United States
           Environmental Protection
           Agency
           _ Region 4 .
            345 Courtland Street, NE
            Atlanta, GA 30365
EPA 904/9-85 134
SEPTEMBER 1985
«EPA
Environmental
Impact Statement

North Pinellas County,
Florida
Wastewater Facilities
   Final

 85-
 134
           ilM


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»
UNITED STATES ENVIRONMENTAL PROTECTION AGENCY

                  REGION  IV

              345 COURTLAND STREET
             ATLANTA, GEORGIA 30365
                            SEP 20 1985
     TO:   ALL  INTERESTED AGENCIES,  PUBLIC GROUPS AND CITIZENS
   Enclosed  for  your  review and  comment is the Final Environmental
   Impact  Statement  (EIS)  for proposed wastewater facilities for
   northern  Pinellas  County,  Florida.

   This  EIS  was  prepared in compliance with the National
   Environmental Policy Act (NEPA)  and implementing Agency
   regulations.   In  accordance with these regulations, the Final
   EIS will  be  filed  with  EPA's  Office of Federal Activities.
   Availability  of the EIS will  then be announced in the Federal
   Register, beginning a 30-day  comment period.  (The Federal
   Register  date is  the same as  the date of this notice.)  EPA
   will  take no  administrative action on this project until the
   close of  the  comment period.

   Your  review  of this document  and any comments you may have are
   appreciated.   Please send all comments to Robert B. Howard,
   Chief,  NEPA  Compliance  Section at the above address.

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                            Final
                Environmental Impact Statement
                             for
                North Pinellas County, Florida

                         Prepared by

             U.S. Environmental Protection Agency
                          Region IV
                       Atlanta, Georgia

This Final EIS addresses proposed wastewater management
facilities for northern Pinellas County, Florida.  The major
elements of the EIS include:  (1)  the development and
evaluation of wastewater disposal alternatives for existing
municipal wastewater treatment facilities, (2) the development
and evaluation of wastewater management alternatives for the
area east of Lake Tarpon, (3) the evaluation of the environmental
effects and costs associated with the disposal of wastewater
through a Gulf outfall, and (4) the evaluation of wastewater
reuse in the study area.

Due to lack of approved wasteload allocations for most of
Pinellas County's surface waters, a study area wide preferred
alternative cannot be selected.  EIS conclusions or
recommendations that can be made include:  (1)  no federal
action related to funding wastewater facilities east of Lake
Tarpon, (2) the identification of wastewater reuse as the
environmentally preferred wastewater management alternative
for the study area, and  (3) general findings related to the
disposal of wastewater through a Gulf outfall near northern
Pinellas County.

Comments and inquiries on this EIS should be directed to:

                   Robert B. Howard, Chief
                   NEPA Compliance Section
               Environmental Assessment Branch
                     U.S. EPA - Region IV
                  345 Courtland Street, N.E.
                   Atlanta, Georgia  3Q365
               Telephone Number:  404/881-3776

                         APPROVED BY:
                                              flUB
lack E.  Ravan                                 Date
Regional Administrator

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           USEPA          .
                                202-566-0556

    ,               U.'S.  ENVIRONMENTAL PROTECTION AGENCY

| JH"
     REGION IV - ATLANTA
   NORTH PINELLAS COUNTY,

          FLORIDA
ENVIRONMENTAL IMPACT STATEMENT
            FINAL
     Repository Material
   Permanent Collection
       SEPTEMBER 1985

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Draft  ( )
Final  (X)
                           EXECUTIVE SUMMARY FOR THE
                      ENVIRONMENTAL IMPACT STATEMENT FOR

                        NORTH PINELLAS COUNTY, FLORIDA
                             WASTEWATER FACILITIES
                        Environmental Protection Agency
                                   Region IV
                             345 Courtland Street
                            Atlanta, Georgia  30365
Type of Action:
Administrative Action (X)
Legislative Summary   ( )
                               EXECUTIVE SUMMARY
                           PART A - NEED FOR ACTION
     The  Environmental  Impact  Statement  (EIS) for  North Pinellas  County,
Florida addresses  alternative wastewater treatment-disposal  systems and the
potential impacts  of  these  systems.   The Study Area for  the  EIS  includes  the
northern half of Pinellas County including all of the City of  Clearwater  and
locations within the county north of Clearwater as shown on Figure i.
     Facilities planning  for  the EIS Study Area, based on  Section  201  of the
1972 Federal Water  Pollution  Control Act, was accomplished through the North
Pinellas County 201 Plan  (which included areas within the  County north  of the
City of Clearwater:  Dunedin, Oldsmar, Tarpon Springs and unincorporated areas)
and  the  Central Pinellas County 201  Plan (which  included the Cities  of
Clearwater and Safety Harbor  and areas further south).   Recommendations of the
201  Plans  are summarized in Table  i and the  service  areas are shown on

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                     N
                   LOCATION MAP
NORTH PINELLAS COUNTY, FLORIDA
ENVIRONMENTAL IMPACT  STATEMENT

        STUDY AREA
           0       5
           5
          SCALE IN  MILES
                            :
    U.S. ENVIRONMENTAL PROTECTION AGENCY
      REGION IE   ATLANTA, GEORGIA
                         FIGURE  i

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                                                      TABLE i

                                             WASTEWATER SERVICE AREAS
                                    IN THE NORTH PINELLAS COUNTY EIS STUDY AREA
     Service
      Area

Clearwater
   1984
 Capacity
  (MGD)
   1984
Flow (MGD)
(3)
               Year 2000
               Projected ...
              Flows (MGDrJ;      Treatment Levels
                        Current  Wastewater
                                                                                      Eff-luent Disposal
    Current
    Method
  Method Recom.
   in 201 Plan
East Plant
Marshall St.
Plant
Northeast Plant
               (1)
   5.0
   3.3
10.0
 6.3
   8.0
   4.6
          5.3
                    8.6-10.0
         12.0
                                Secondary plus ef-
                                fluent filtration
                        Secondary  plus  ni-
                        trification
                                Secondary (with
                                filters being in-
                                stalled)
Discharge to Old
Tampa Bay, 650
ft. from shore

Discharge to Ste-
venson Creek to
Clearwater Harbor

Effluent dis-
charged through
East Plant's
outfall
Deep-well injection
near the treatment
plant

Deep-well injection
near the treatment
plant

Deep-well injection
near East Plant in
combination with
East Plant
Dunedin
Mainland Plant
Oldsmar
Oldsmar Plant
   4.0
   3.3
   1.0
   0.75
          5.5-7.0
                                Secondary
          4.5(2)-7.5(2)  Secondary with
                        nitrification
Discharge to St.
Joseph Sound,
1000 ft. from
shoreline
                                                       Evap.-perc.  ponds
Gulf outfall
                     Spray irrigation as
                     primary method;
                     perc. ponds as
                     backup method.

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                                                      TABLE i
                                                    (Continued)

Service
Area
Pinellas County
N. Pinellas Co.
Plant

Safety Harbor
Safety Harbor
Plant

Tarpon Springs
Tarpon Springs
Plant

Area East of
Lake Tarpon

1984
Capacity
(MGD)
1984 n.
Flow (MGD)^ '
3.0
1.3


0.35
0.11


1.25
1.8

<0.5
<0.5

Year 2000
Projected ,_» Current Wastewater
Flows (MGDK Treatment Levels
4.5-10 Secondary


Redirect flow Secondary
to Clearwater
N.E. Plant

4,0 Secondary plus
nitrification

3.5 Secondary (pack-
age plants) and


Effluent Disposal
Current
Method
Spray irrigation


Redirect flow to
Clearwater N.E.
Plant

Discharge to
Anclote River

Holding pond
and reuse on
Method Recom.
"in 201 Plan
Spray irrigation as
primary method;
Gulf outfall as
backup method

Redirect flow to
Clearwater N.E.
Plant

Spray irrigation as
primary method;
Gulf outfall as
backup method
Conveyance to
Clearwater North-
                                                    on-lot systems
                                                                       golf courses
east WWTP
(1)

(2)

(3)
Includes Safety Harbor's flows
Includes 3.5 MGD from unsewered area East of Lake Tarpon

Based on most recent conversations with representatives from each service area.

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Figure ii.   All existing  nearshore  surface  water discharges  were to  be
replaced by several  deep  well injection and spray irrigation alternatives. A
Gulf outfall was also recommended as both  a  primary  and a back-up  disposal
method.

     Review of the  facilities plans raised substantive questions concerning the
disposal options of  deep well  injection  and a Gulf outfall, lack of wasteload
allocations  to  area surface  waters and  the  impact  of  sewering  the
environmentally sensitive area east of Lake Tarpon.

     Based upon the concerns raised in the 201 Plans and through the review and
scoping processes,  the following  issues  were  identified as the  major elements
of the EIS:

     o    Development  and  evaluation  of  wastewater  disposal
          alternatives  for  the  numerous   municipal   wastewater
          treatment  facilities;

     o    Development  and  evaluation of  wastewater  management
          alternatives for the developing area east of Lake Tarpon;

     o    Evaluation of  the  environmental  effects   and  costs
          associated with  the disposal  of  wastewater  through a Gulf
          outfall;  and

     o    Evaluation  of water conservation and wastewater  reuse  in
          light of  existing groundwater supply  limitations in  the
          Study Area.
              PART B - DEVELOPMENT AND EVALUATION OF ALTERNATIVES

     Six basic wastewater disposal alternatives were evaluated for the existing
municipal facilities:

     o    Discharge to coastal waters  (Old Tampa  Bay,  Clearwater
          Harbor-St. Joseph Sound or the Anclote River);

                                      vii

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                                                                      N
    PASCO
                                        COUNTY
                                            EAST OF
                                            TARPON
                                AREA
                                LAKE
                                S.A.
                   TARPON
                   S.A.   «
     GULF   OF
      MEXICO
                 NORTH
                 PINELLAS
                 COUNTY
                 WWTP
                NORTH
                PINELLAS
                COUNTY 2
                 .A.
                                               OLDSMAR SA
                                                   OLDSMAR
                                                     TP
                                                  DSMA
                                               FETY
                                               HARBOR
                                        SAFETY
                                        HARBOR
                                        S.A.
                            CLEARV\ATER
                            NORTHEAST S.A
                         CLEAI MATE
                  CLEARWATER
                  MARSHALL  ST. S.A.
 S.A.
WWTP
      LEGEND

SERVICE AREA
WASTEWATER TREATMENT PLANT
SURFACE WATER DISCHARGE
POINT
 NORTH PINELLAS  COUNTY, FLORIDA
ENVIRONMENTAL IMPACT  STATEMENT

 MUNICIPAL WASTEWATER
     SERVICE  AREAS
 SOURCES: i. PINELLAS COUNTY SEWER SYSTEM
          FEBRUARY  1979
        2. OLDSMAR- PINELLAS COUNTY AGREEMENT
          DECEMBER 1979
                                               SCALE IN  MILES

                                          U.S. ENVIRONMENTAL PROTECTION AGENCY
                                           REGION 33C   ATLANTA, GEORGIA
                                                                      FIGURE ii

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     o    A Gulf outfall extending  from Clearwater  Beach  Island,
          Honeymoon Island  or the mainland  north of Honeymoon Island;

     o    Deep well injection at the Marshall St.  Plant  or south of
          the  Study  Area possibly  at  the  County's McKay  Creek
          Wastewater Treatment Plant and injection site;

     o    Slow  rate (spray  irrigation) or rapid rate  (rapid
          infiltration)  land application;

     o    Wastewater reuse  of nonpotable wastewater for  irrigating
          recreational   or  other open  land areas  and industrial
          cooling and service water; and

     o    The No Federal Action (no-action) alternative.
                                              s
     The service areas  and  the  basic disposal options were combined to form
individual, sub-regional (2 or more service areas  combined) and regional (all
seven service areas combined with a total  projected flow for the year 2000 of
43 million gallons of wastewater per day (MGD))  disposal alternatives.  These
alternatives were  screened  with some  being eliminated  because of  cost or
environmental reasons.

1)   Cost Analysis

     (a)  Tampa Bay Subarea Cost Summary

     The Old  Tampa Bay Subarea involves  facilities  (Oldsmar,  Clearwater
Northeast, and Clearwater East)  with proposed discharges to Upper Old Tampa Bay
(north of the Courtney  Campbell  Causeway)  or Lower Old Tampa  Bay (south of  the
Causeway).  The general findings of the cost analysis are summarized below:

     o    The individual service area disposal options with a surface
          water  discharge  treated  to  secondary  levels  with no
          outfall extension are least costly;
                                      XI

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     o    Regional and  sub-regional  options are  more costly than
          individual options;

     o    A sub-regional alternative combining  all facilities for a
          discharge to Lower  Old Tampa Bay  at  secondary treatment
          levels is  the  least costly  non-individual service area
          option;

     o    Reuse plus  secondary  treatment  and  filtration  is  cost
          competitive with  regional Gulf  outfall  and  deep  well
          injection options; and

     o    The regional Gulf outfall option  (with  secondary  treatment
          and with  the  outfall  located four miles  offshore  from
          Honeymoon Island) is cost competitive  with the  regional
          deep-well injection option.

     (b)  Clearwater Harbor - St. Joseph Sound Subarea Cost Summary

     The Clearwater Harbor -  St.  Joseph Sound  Subarea includes  the Clearwater
Marshall Street and Dunedin treatment plants.   General  findings  of the cost
analysis are summarized as follows:

     o    The individual service area disposal options with a surface
          water discharge are least costly;

     o    Reuse plus  secondary  treatment  and  filtration are less
          costly than regional Gulf  outfall or deep  well  injection
          options;  and

     o    The regional Gulf outfall  option is  cost competitive with
          the regional deep well injection option  (but  at  a  higher
          level of costs than the individual service  area options).
                                      xii

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     (c)   North Pinellas County Subarea Cost Summary

     Rapid rate land application as an individual disposal  option  is  the  least
costly alternative.

     (,d)   Tarpon Springs Subarea Cost  Summary

     The   Tarpon  Springs wastewater  service  area  is  the  Tarpon  Springs
Subarea.   The  Anclote  River  has been assigned a wasteload  allocation by the
Florida  Department  of  Environmental  Regulation  (DER).    Discharge  of
wastewater,  treated  to advanced secondary  treatment  (AST)  levels,  is  the
least costly disposal option that is judged  environmentally acceptable.   Some
of the unincorporated area northeast of Lake  Tarpon may also be served by the
Tarpon Springs Wastewater Treatment  Plant.

     (e)   Area East  of Lake Tarpon

     A range  of alternatives  including on-lot  and  community  systems, land
application and a centralized  sewer system were considered  for this area.  The
costs for on-lot  and small  community  systems are  based  on an analysis  of
three planned  residential communities east of Lake  Tarpon.   The costs are for
existing  residences  and capacity for future  growth.   Annual user  costs  for
screened alternatives are:

               Treatment Alternative                Annual User Cost
          Community  Sand Mound-Septic Tank                $386
          effluent pump system
          Land application following secondary            $393
          treatment
          Centralized system with treatment               $400
          at Oldsmar WWTP

2)   Evaluation of Non-Monetary Factors

     The  alternatives  also  were evaluated on the basis of  expected  environ-
mental impacts (with  emphasis on aquatic  environment,  public health and
recreation),  operability  constraints  and  implementability  limitations.
                                      xiii

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Implemencability, operabllity, and  environmental  impact factors for  the  five
basic disposal  options (excluding  the  no-action  alternative) are  presented
in Table ii.

     The  expected  environmental  impacts,   operability  constraints  and
implementability limitations for  the  area east of Lake Tarpon are  summarized
in Table iii.
                             PART C - CONCLUSIONS

     In the absence of approved  wasteload allocations for area surface waters
 (except the Anclote  River), EPA can not, in  this  EIS,  select a  preferred
alternative for wastewater  disposal  for  all  of North Pinellas  County.   The EIS
must instead  be viewed  as providing  input  to  the  Florida DER  in their
wasteload allocation  decisions  and  to local agencies for  their wastewater
management decisions.  The EIS  can  serve  the  purpose of narrowing the field
of  reasonable  alternatives; presenting  the costs  associated with  various
effluent  limitation  combinations;  and  identifying  expected  environmental
impacts, operability  constraints and implementability limitations associated
with the  alternatives.   The  identification of  the most  cost  effective,
environmentally sound  disposal  alternative  that would be  eligible for EPA
funding can not  be accomplished until the wasteload  allocation process is
completed.  An environmentally preferred alternative of wastewater reuse can,
however, be identified in the  EIS.  Additionally, decisions concerning EPA's
role in wastewater management  east of  Lake Tarpon are not  dependent on waste-
load allocations and therefore can be described  in the EIS.

     Decisions have already been made  concerning the Tarpon Springs discharge
to  the Anclote River, because  wasteload  allocations have been established  and
approved.  Further decisions concerning Tarpon Springs are  not necessary.

     Decisions in the North Pinellas service area can be made independently of
wasteload allocations.   Land  application of treated wastewater  on-site or at
the Innisbrook Country Club is the most  cost-effective, environmentally sound
disposal option  regardless of the level of  treatment provided prior  to  any
surface water discharge option.

                                       xiv

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                                                     TABLE ii

             IMPLEMENTABILITY, OPERABILITY AND ENVIRONMENTAL IMPACT FACTORS OF BASIC DISPOSAL OPTIONS
    Option

Discharge to
Coastal Waters
Gulf Outfall
Deep Well
Injection
     Implementability/Operability

Approved wasteload allocations for dis-
charges are unavailable.  Wastewater dis-
charges are constrained because all
Pinellas County waters are state desig-
nated Outstanding Florida Waters and
Class II (shellfish harvesting) waters.
Public acceptability is uncertain.   No
Gulf outfalls currently exist in
Region IV.  Outfall operation is proven
technology.
Was first thought not viable at Clearwater
East Plant site.  Funding for additional
testing is being sought by Clearwater.
Proven to be implementable south of the
Study Area.  May be viable in southwest
section of Clearwater.  28 month testing
program required for new disposal sites.
        Environmental Impacts

Water quality impacts (and impacts on
beach use, grass beds, aquatic ecosystem,
etc.) determined by quality of effluent
discharged (continued degradation is
expected with secondary treatment levels
and improvement with AWT).  Non-point
source controls in some waters may be
needed for further water quality improve-
ments.

Construction:  12 acres of bottom habitat
potentially altered or destroyed per mile
of pipeline.  Outfall corridor could be
sited to minimize construction impacts.
Operation;  Benthic community within
100-200 feet of discharge would be
altered.  Potential for beaches, reefs
and other sensitive areas to be
impacted.  Estuarine water quality would
be improved by removal of near shore
surface water discharges.

Estuarine water quality would probably
improve.  Could help retard saltwater
intrusion into potable aquifer zones.

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                                                            TABLE ii

                     IMPLEMENTABILITY, OPERABILITY AND ENVIRONMENTAL IMPACT FACTORS OF BASIC DISPOSAL OPTIONS
            Option

       Land Application
       Non-potable
       Reuse  at  parks,
       golf courses  and
       other  lands
x
H-
     Implementability/Operability

Land availability, zoning changes and
land cost are implementation issues.
Under-drains may be required in many
areas because of high groundwater
table.  Back-up disposal method and/or
large retention capacity is needed.

Proven to be implementable in
neighboring St. Petersburg.  Costs
are usually higher than other dis-
posal alternatives.  Back-up disposal
method is needed.  Land availability
is an issue.
        Environmental Impacts

Surface water quality would improve.
Land use alteration and conversion could
occur.  Wildlife habitat could be
altered.  Potential groundwater recharge
advantages.
Limited area groundwater supplies could
benefit by both conservation and reuse.
Potential health risk if reuse system
is not secured from casual human contact
with wastewater.  Reduced surface water
discharges would potentially result in
water quality improvements.

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                                   TABLE iii

      COMPARATIVE FEATURES OF WASTEWATER MANAGEMENT  ALTERNATIVES  FOR THE
                           AREA EAST  OF  LAKE  TARPON
         Alternative
Sand-Mounds with STEP Systems
Package Plants with land
application
Centralized System with Treat-
ment at Oldsmar WWTP
 1)  No  surface water  discharge
 2)  Minimal  public health  concerns
    with  properly functioning
    systems
 3)  Terrestrial  ecosystem  impacts
    minimal
 4)  Without  centralized  systems,
    densities may be  decreased
    resulting in reduced impacts on
    wetlands, flood-prone  areas,
    recharge areas
 5)  Low cost alternative
 6)  Malfunctions could result in
    public health, recreation and
    odor  impacts
 7)  Shallow  groundwater  supplies
    could be affected by nitrate
    increases
 8)  Soil  suitability  limited to
    southern portion  of  area east  of
    Lake  Tarpon

 1)  No  surface water  discharge
 2)  Minimal  public  concerns with
    properly functioning systems
    Same  as  4)  above
    Existing developments  are using
    this  technique  now
 5)  Low cost alternative
 6)  Open  space would  be  maintained
    for Land Application and other
    uses
    Same  as  6)  above
    Same  as  7)  above
    Storage  or back-ups  required  for
    ve: vaather  periods
    Leige portions  of potentially
    developable  land  are required
    for land application
11)  Some  vegetation removal required

 1)  No  groundwater  concerns
 2)  No  operability  constraints
 3)  High  cost  alternative  when  dis-
    posal costs  are added
                                           3)
                                           4)
                                           7)
                                           8)
                                           9)

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                             TABLE  ill  (Cont'd.)

      COMPARATIVE FEATURES  OF WASTEWATER MANAGEMENT  ALTERNATIVES  FOR THE
                           AREA  EAST OF  LAKE TARPON
         Alternative

Centralized System with Treat-
ment at Oldsmar WWTB  (Cont'd.)
4) Wasteload allocations do not
   exist for surface waters
5) Increased nutrient/BOD- load to
   Old Tampa Bay could result in
   water quality degradation
6) Potential public health/recrea-
   tion impacts with discharge
7) Centralized system would support
   dense development in area's wet-
   lands, floodprone areas, re-
   charge zones; nonpoint source
   loads to Lake Tarpon could in-
   crease
8) State law and regulations
   constrain surface water dis-
   charges
                                    xvi 11

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     The alternatives involving discharge into Old Tampa Bay, Clearwater Harbor
and St. Joseph  Sound  can undergo no further  screening  by EPA at  this  time.
Additional definitive decisions  can not be made  until  wasteload allocations
for those water bodies are available.

     Existing wastewater  management methods  east of  Lake  Tarpon include
septic tank - absorption field systems  at individual homes and private  package
plants that serve planned community  developments.  Wastewater from the  package
plants is disposed via  land application of effluent within  that  development.
With proper maintenance  and sufficient  acreage, this practice has apparently
been successful.  Water quality or public health problems associated with these
existing systems have not been documented.

     The thrust  of facilities planning  east  of Lake Tarpon is  toward  the
provision of  facilities  for future population, not  the existing population.
In this regard,  the selection  of  EPA's  funding decision is primarily dictated
by two factors.

     First, the  area  East of  Lake Tarpon contains many  sensitive  environmental
features that could be potentially impacted by continued development.  The area
is drained  by Brooker Creek,  a  major  drainage basin of  Lake Tarpon.   This
tributary system is  composed of  a  network  of wetlands and  floodplains  that
comprise approximately  33  percent of the area east  of  Lake  Tarpon.  Much of
the area is  also a groundwater recharge zone which  is  critical to the long-
term viability  of the area's  groundwater  supply.  One of  the  area's major
public water  supply well  fields  is located  in this portion of the study area.
EPA's participation  in  funding facilities  to support  development that would
adversely affect  these  sensitive environmental  features is limited by  both
policy and regulation.

     Secondly, EPA's  Construction Grants Regulations  allow the  agency to fund
facilities only  to serve capacity for  flows  existing on the date of  Step  3
grant award,  but  not to exceed  1990  flows.   Since the  focus  of  these
alternatives  is  to serve  future  development,  the Agency's funding role in the
area east of Lake Tarpon is limited.
                                      xix

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                           PART D - RECOMMENDATIONS

 1)   Wastewater Reuse

     The wastewater reuse alternatives  for  each  service area are hereby identi-
 fied as  the  environmentally  preferred disposal alternative.  Reuse is the only
 management option that responds to the area's surface water  quality problems
 while addressing  ground water supply  limitations.  The costs, advantages, and
 disadvantages  are clearly  outlined  to the  community and local  decision
 makers.  The need for  a wet weather backup  for wastewater  that cannot be reused
.is  likely  to  exist.   Potentially feasible backup options include continued but
 intermittent surface water discharges or deep well  injection.

     In  general  terms, the cost of wastewater reuse represents  an additional
 $41 to  $48 million beyond  the costs  associated  with surface  water disposal
 options  at AWT and secondary treatment  levels,  respectively  for all seven
 treatment plants.   These costs do  not  recognize any  value for  the recycled
 wastewater or the reduced  costs associated  with lesser  needs  for potable
 supplies.

     It should be noted that  this recommendation is to identify  the  environmen-
 tally preferred  alternative,  is not necessarily  the "EPA fundable"  al-
 ternative.  The  "EPA  fundable" alternatives  for both the  Clearwater Harbor -
 St. Joseph Sound  and  Old Tampa Bay Subareas  will be selected upon completion
 of  the  wasteload allocation  process.   Additionally, identification of the
 environmentally preferred alternative does not  preclude the  consideration of
 other disposal  options  (e.g.,  deep well injection or intermittent  surface
water discharges).  Deep well injection is a disposal option that had  been
 considered as both a  primary and backup  disposal option.   Local agencies may
 wish to  pursue  further deep well investigations to determine its feasibility
 as a disposal option and its relationship to  a reuse  alternative.

 2)   Tarpon Springs Subarea

     Discharge  to the  Anclo'te River of advanced  secondary  treated  (AST)
 effluent is the recommended  alternative for Tarpon  Springs, in accordance with
 the approved wasteload allocation.
                                       xx

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3)   North Pinellas Subarea

     Land application at the existing site and  the Innisbrook  Country  Club  has
been  shown  to be  the most  cost-effective,  environmentally  sound option
available.   Regardless  of wasteload  allocations, land  application is  the
recommended alternative  for the North Pinellas  Subarea.

4)   Clearwater Harbor - St.  Joseph Sound Subarea

     In the  absence of wasteload  allocations   for  this  sub-area,  numerous
alternatives remain viable for the Dunedin and  Marshall  Street service areas.
The information  from  the  EIS process is  available  to the state  for  use in
their decisions.   Upon  completion of the wasteload allocation process,  the
most cost-effective environmentally sound option for funding  eligibility can
then be selected.

5)   Old Tampa Bay Subarea

     In the absence of wasteload allocations for this  subarea, numerous alter-
natives remain viable for the Clearwater East,  Clearwater Northeast and Oldsmar
service areas.   The information from  the  EIS process is  available to  the state
for use  in their  decisions.   Upon completion  of the wasteload  allocation
process,  the  most cost-effective  environmentally sound  option for funding
eligibility can then be selected.

6)   Area East of Lake Tarpon

     EPA's policy  and regulations concerning funding  facilities  in environ-
mentally sensitive areas  and  funding capacity  for future  flows do not allow
funding assistance  in the area east of Lake Tarpon.  The reasonable  alter-
natives have  been  evaluated  in terms  of cost, impact,  reliability  and
implementability.   This  information is available to the County  and  private
developers for local decision-making.

     EPA also  encourages  governing bodies within the  Study  Area  to consider
the  function  and  value  of  environmentally  sensitive  undeveloped areas
                                      xxi

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ease of Lake Tarpon (i.e.,  groundwater recharge areas, wetlands, floodplains)
in future planning and development decisions.

     EPA's Construction Grants  regulations  allow the Agency to  fund facilities
only to serve  capacity for  flows existing on the date of Step  3 grant award,
but not to exceed 1990 flows.   Since  the basis for many of the alternatives
for the area east of Lake  Tarpon  is to serve future development and not  to
correct existing water quality  or  public health problems,  the  EPA will not
participate in funding wastewater facilities in this area.

7)   Gulf Outfall

     As part  of  this  EIS,  a  Marine Measurement and  Sampling  Program  was
conducted  during 1980  to better define  existing environmental and  physio-
graphic conditions  in  the  nearshore  Gulf  of  Mexico off northern Pinellas
County.   The data  collected  during the  sampling program were  utilized to
assist in  evaluating the  Gulf  outfall wastewater disposal  alternative and to
generically demonstrate the methodology that should be used in considering a
                                       f
Gulf outfall.   The  general findings related  to  a Gulf outfall  from northern
Pinellas County are as follows:

     o    It would provide  the  area with a reliable long-term waste-
          water disposal option;

     o    It would require a major investment of capital in a dispos-
          al option that would tend to discourage the environmentally
          preferred alternative of wastewater reuse;

     o    It would involve  the  environmental  tradeoffs of minimizing
          impacts to estuarine waters while increasing impacts to the
          Gulf  (i.e.,  bottom  disruption  and  community alteration,
          attractant to fish  and other  organisms causing  impacts,
          nutrient impact);

     o    It would remove a development  constraint  that  would poten-
          tially promote higher  density  development and development
                                    xxii

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     in environmentally  sensitive  areas  which are not suitable
     for on-lot or recycle wastewater management;

o    Secondary treatment and disinfection of wastewater would be
     necessary to  minimize adverse impacts  of  an outfall  on
     local beaches;

o    Station  3F  which  is  roughly four  miles offshore  from
     Honeymoon Island  was selected  for  additional  study to
     further demonstrate the generic methodology  for evaluating
     the Gulf outfall alternative.  The  area of  Station 3F was
     found  to be  less  environmentally sensitive  than other
     sites  located closer  to  shore that  were evaluated  during
     the Marine Sampling Program;

o    Station  3F  appears to be more cost  effective than other
     stations evaluated during the Marine Sampling Program based
     on estimated  cost  and combined impacts  to public health,
     the St.  Joseph  Sound estuary and natural hardbottom reef
     habitat;

o    Nearshore Gulf  currents vary such  that  predictions of
     effluent movement  from a discharge  are uncertain.   Dye
     discharged  in the  area of  Station  3F during the Marine
     Sampling Program generally  moved  in a south-southwesterly
     direction.  A discharge  plume in the area  of Station 3F
     would  be  expected  to have  minimal  impact on the  area's
     beaches;

o    Any further consideration of  discharge  sites near Station
     3F should focus on  areas slightly north of the  exact study
     location to further minimize  potential  impacts  to usage of
     the Dunedin Artificial Reef;

o    A precise outfall  alignment and  point of discharge  would
     require  additional site-specific analyses   (i.e.,  site
                               xxiii

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          specific  studies  to select the  exact  outfall route, the
          discharge point and required mitigation);

     o    Any  further consideration  of Station  3F  or any  other
          potential" Gulf  outfall site would  be  subject to permit/
          administrative review and approval.

8)   Water Conservation

     The following  conclusions can be stated  about water conservation:

     o    Although  evidence of drawdown  from pumping is apparent,
          water appears to  be in sufficient quantity  to satisfy water
          supply needs.   The costs of providing water, however, are
          higher than costs for water conservation;

     o    Legal disputes  over water  rights  and  inter-county water
          transfers could  intensify.   Such disputes have  already
          arisen between Pinellas and Pasco Counties;

     o    Water conserving  devices are easy  to  install and require
          little maintenance or operation;

     o    Losses in water revenue  could result from decreased water
          use;

     o    Local plumbing codes may require revision;  and

     o    Water conservation measures can  generally  reduce annual
          wastewater treatment and  disposal costs by 10 percent  in
          developed areas  and 15  - 20 percent  in  less developed
          areas.

Local governments are encouraged to institute a water conservation program.
                                     XXIV

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                        NORTH PINELLAS COUNTY,  FLORIDA
                     DRAFT  ENVIRONMENTAL IMPACT STATEMENT
                               TABLE OF CONTENTS

                                                                    PAGE

EXECUTIVE SUMMARY                                                      i
     A.    Need for Action                                              i
     B.    Development  and Evaluation of Alternatives                 vii
     C.    Conclusions                                                 xiv
     D.    Recommendations                                             xx

TABLE OF CONTENTS                                                    xxv

LIST OF TABLES                                                      xxvi

LIST OF FIGURES                                                     xxvi

I.   BACKGROUND AND PURPOSE OF THE EIS                                1
     A.    Background                                                  1
     B.    Purpose                                                     5

II.  THE SELECTED ALTERNATIVE                                         7
     A.    Basis of Decision                                           7
     B.   EIS Recommendations                                         8
     C.   Remaining Alternatives                                      14

III. ERRATA AND REVISIONS TO THE DRAFT EIS                            19

IV.  PUBLIC COMMENTS AND EPA RESPONSES                                21
     A.   Oral Comments                                               21
     B.   Written Comments                                            21

V.   LIST OF PREPARERS                                               121
                                       xxv

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                                LIST OF TABLES
Table No.                         Table Name                             Page
    i               Wastewater Service Areas in the North               v - vi
                    Finellas County EIS Study Area

   ii               Implementability, Operability and Environmental    xv - xvi
                    Impact Factors of Basic Disposal Options

   iii              Comparative Features of Wastewater Management    xvii - xviii
                    Alternatives for the Area East of Lake Tarpon

    1               Wastewater Disposal Alternatives     '               15-18

    2               Index to Public Hearing Comments on North           22-24
                    Pinellas County Draft EIS

    3               Summary of General Topics Covered by Oral              25
                    Comments

    4      •         Index to Written Comments on North Pinellas           77-81
                    County Draft EIS

    5               Summary of General Topics Covered by Written           82
                    Comments
                                LIST OF FIGURES


Figure No.                        Figure Name                            Page

    i               EIS Study Area                                        iii

   ii               Municipal Wastewater Service Areas                     ix
                                     xxvi

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            CHAPTER I
BACKGROUND AND PURPOSE OF THE EIS

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                                   CHAPTER I
                       BACKGROUND AND PURPOSE OF THE EIS
                              PART A - BACKGROUND
     The North Pinellas County Environmental Impact Statement (EIS)  Study Area,
shown in  Figure  i,  has experienced  tremendous  population growth since  the
1950!s.    Climate  and the Gulf  coast beaches attract vacationers,  seasonal
residents, and permanent,  year-round residents.   Development began south of the
Study Area in St. Petersburg  and Largo.   As those  areas became saturated with
homes, development began to increase in Clearwater,  Dunedin and areas further
north.  Pinellas  County experienced a population growth of 39 percent from 1960
to 1970; it is now one of the most densely  populated counties within  the  state
of Florida.

     Areas most pleasant for  residential  and  commercial development are often
environmentally fragile areas.  As a result of  being surrounded on  three  sides
by marine or  estuarine waters,  Pinellas County's fresh groundwater supply  is
limited.  All of  the groundwater beneath the southern half of the county is now
not potable  due   to  salinity intrusion  resulting  from  excessive pumping.
Dispersed wellfields are still utilized in the northern half of the county, but
most of these wells  have  limited yields.   Little  open  space remains for any
future development.

     Degradation  of surface water resources is  a second example of the area's
environmental sensitivity.   Abilities  of local  coastal  waters  to assimilate
wastewater are  limited due  to  shallow  depths, slow  flushing  rates and
pollution  from  stormwater runoff.   Therefore,  other ways  to  dispose  of
wastewater have been  investigated  while  still desiring  to  preserve the safe
use of local beaches.

     Centralized  wastewater  transmission and treatment systems are  managed
within  the Cities of  Clearwater, Dunedin,  Oldsmar and  Tarpon  Springs by the
Cities  themselves.  The City  of Clearwater  manages three wastewater  treatment

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plants:   Clearwater East, adjacent  to  Old Tampa Bay just  off the Courtney
Campbell Causeway;  Clearwater  Northeast which also is  proposed  to serve the
City of Safety Harbor; and Clearwater Marshall  Street which serves the  western
half of the  City of Clearwater.   These wastewater service  areas  are  outlined
in Figure ii.

     The Pinellas  County government manages the North Pinellas Wastewater
treatment plant and all wastewater  transmission lines  in unincorporated areas
north of the Cities of Dunedin and Clearwater.  The area east of Lake Tarpon is
not connected  to any of the municipal  wastewater treatment plants.  On-lot
systems throughout  the Study  Area are managed  by the  Pinellas County Health
Department.

     The Federal government provided funds  for  northern Pinellas County for
wastewater  facilities plans  (also  called  201  Plans)   beginning in the
mid-1970's.  The North Pinellas  County  201  Plan considered areas within the
county north of the City of Clearwater:  Dunedin, Oldsmar,  Tarpon Springs,  and
unincorporated areas.  The Central  Pinellas  201 Plan  considered the Cities of
Clearwater and Safety Harbor and  areas further south.

     The North Pinellas 201 Plan  resulted  in a  proposed solution to wastewater
disposal problems which included  the following:

     o    An outfall  to  the Gulf  of Mexico  to dispose  of Dunedin's
          wastewater;

     o    Spray  irrigation to  dispose  of wastewater from the  North
          Pinellas wastewater treatment plant (WWTP)(serving unincor-
          porated areas west of Lake Tarpon);

     o    Spray ; irrigation to dispose  of  Oldsmar's and  Tarpon
          Spring's wastewater; and

     o    Conveyance of wastewater from the unincorporated areas east
          of Lake Tarpon to the Clearwater Northeast WWTP.

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Backup (wet-weather) disposal methods for spray  irrigation recommended in the
North Pinellas 201  Plan  were  (1)  a Gulf outfall  for  the unincorporated area
west of Lake Tarpon and  the City of Tarpon Springs and  (2)  deep-well  injection
at the Clearwater East WWTP  for wastewaters generated  in Oldsmar and in the
area east of  Lake  Tarpon.  Treatment  levels at  these  wastewater treatment
plants were  recommended to be  secondary  or modified secondary.

     Wastewater disposal methods recommended for  the  City of  Clearwater  in  the
Central Pinellas  201 Plan included:

     o    Deep-well  injection of effluent from the Clearwater Mar-
          shall Street  WWTP at a local  site;

     o    Deep-well  injection of effluent from the Clearwater East
          and Clearwater Northeast  service  areas at  the  Clearwater
          East WWTP; and

     o    Routing of untreated  wastewater flows  from the  City  of
          Safety  Harbor to the Clearwater Northeast WWTP.  The Safety
          Harbor  WWTP was recommended to be  abandoned.

Irrigation of publicly-owned lands was  recommended in the Central Pinellas  201
Plan as a secondary  disposal  method.   If deep-well injection was  to  be  aban-
doned, the recommended municipal wastewater disposal system  would be a Gulf
outfall in  conjunction with  facilities recommended  in the  North Pinellas
County 201 Plan.

     After the 201  Plans were  formulated,  the U.S.  EPA made two important
judgements:

     o    A Finding of No  Significant Impact could not  be issued for
          the Gulf outfall alternative  recommended in the 201 Plans;
          and

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     o    Questions needed  to be  addressed regarding  wastewacer
          management in less  developed  portions  of the Study Area,
          particularly the area east of Lake Tarpon,  which includes
          significant  floodplain  and  wetland areas  and two large
          public wellfields.

     The 201 recommendations  have  been complicated by other events  as well.
Preliminary deep-well  injection field tests conducted during the  late  1970s  at
the Clearwater East WWTP site led  to the judgment  that continuous injection  at
that site could not be carried out as  recommended  in the Central Pinellas 201
Plan without endangering  nearby  water  supply wells.   A  suitable confining
layer(s) was not located during those preliminary drilling activities.   Recent-
ly, however, the City of Clearwater attempted to acquire  funding  to  reactivate
the Clearwater East test  site because deep well injection  regulation  changes
may allow for  injection  at  the East site.   Attempts to acquire  EPA funding
have, thus far, not been successful.  Deep-well injection  testing at the  McKay
Creek WWTP (located south of the  study area) is still continuing.

     Secondly,  the Florida Department of Environmental Regulation (Florida DER)
has not  issued final wasteload  allocations for Old  Tampa Bay,  Clearwater
Harbor, or St. Joseph Sound.   The  Florida  DER has issued a draft Tampa  Bay
Water Quality Impact Study which addresses  wasteload  allocations  for Old  Tampa
Bay as well as for  other  Tampa Bay waters.   This document  is currently under
review.  Wasteload allocations for Clearwater Harbor  and St.  Joseph Sound are
currently being developed by Florida DER.

     An additional factor of  concern is that Pinellas County waters have been
designated as  Outstanding  Florida Waters (OFWs) and  are afforded additional
state protection from the discharge of treated wastewater.  The OFW  designation
and protection is, however, not formally recognized  by EPA funding  decisions.
These waters are also classified as Class II waters  (Shellfish  Propagation and
Harvesting) and  as  such,  the discharge of  effluent  is  not allowed.   DER had
also established a "no discharge" wasteload allocation for many of these waters
in  1978.   Because of  this allocation,  EPA  is  now denying  the  reissuance of
NPDES permits  for facilities with  this "no-discharge" allocation.  Although  DER

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is currently conducting wasteload allocation studies for many of these waters;
the current "no-discharge" allocation, the OFW designation and Class II waters
classification provide justification for  permit  denial.
                          PART B - PURPOSE OF THE EIS

     The North Pinellas County  EIS  originated in 1979 due primarily to envi-
ronmental concerns  with  a  Gulf  outfall and  with wastewater  management
decisions proposed for the low-lying areas east  of Lake Tarpon.  No wastewater
outfalls extend to the  Gulf  of Mexico from  the  Florida coast  at the present
time.  Costs, environmental impacts, operability considerations and implemen-
tability factors needed to be addressed.  Very  little  information about the
nearshore Gulf Coast environment  was  available upon which  to  act  on the 201
plan proposals; field data for  the  Gulf  and  for  Clearwater  Harbor  - St.  Joseph
Sound have been collected  as  part of this EIS process.

     Based upon the  concerns  raised in  the  201  Plans and through the review
and  scoping  processes,  the following  issues were  identified  as  the  major
elements of the EIS:

     o    Development and evaluation  of wastewater  disposal
          alternatives  for  the numerous  municipal wastewater
          treatment facilities;

     o    Development and evaluation  of  wastewater  management
          alternatives  for  the developing  area east of  Lake
          Tarpon;

     o    Evaluation  of  the  environmental  effects  and  costs
          associated with the disposal of wastewater through a
          Gulf outfall; and

     o    Evaluation of water conservation  and wastewater reuse
          in  light  of existing groundwater  supply limitations
          in  the Study Area.

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       CHAPTER II
THE SELECTED ALTERNATIVE

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                                  CHAPTER II
                           THE SELECTED ALTERNATIVE
     One specific,  preferred  alternative,  or  group of alternatives,  can not yet
be selected as eligible for Federal funding.   Instead, results of this EIS are
presented:  (1)  in terms of  groups of alternatives which may become eligible for
Federal funding  including  the  environmentally preferred alternative  and  (2)
in terms of  overall results of  the alternatives evaluation  effort:   cost
analyses,   in-depth  consideration  and  (where  possible)  quantification  of
projected environmental impacts, evaluation  of  operational considerations for
the various technologies,  and  evaluation  of  procedures  for  implementing  the
alternatives.
                          PART A - BASIS OF DECISION
     Wasteload allocations for Old  Tampa Bay, Clearwater Harbor -  St.  Joseph
Sound have  not yet  been established.   These  wasteload allocations will
prescribe required  levels  of treatment  for wastewater  discharges  to these
coastal waters.  The allocations  will be established by the Florida  DER with
EPA-Region IV approval.   EPA will not recommend wastewater management  alter-
natives at  this  time which  may  later not  be in accord with  these future
wasteload allocations.    Recommendations  for service areas in which wasteload
allocations are  not involved are  offered.   All  aspects  of  wastewater
management:   costs, environmental  impacts,  operation  and  implementation
should be evaluated within the wasteload allocation process.

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                         PART B - EIS RECOMMENDATIONS


     These recommendations are related to three major EIS issues:

     o    Disposal options for sewered areas of North Pinellas County;

     o    Management options for the area east of Lake Tarpon; and

     o    Statements concerning a Gulf outfall of treated wastewater.

     Certain aspects  of the recommended alternatives cannot be  given  until
approved  wasteload allocations  (including  effluent limits  and discharge
locations) are available from Florida DER.

1)   Disposal Options for Sewered Areas  of North Pinellas County.

     The EIS narrows  the  field  of reasonable alternatives by outlining  general
costs,  environmental impacts,  operability  concerns and implementability
limitations associated  with the  ElS-generated alternatives.   Least costly
disposal options are  identified and an  environmentally  preferred approach is
recommended.

     The EIS does not identify  a  selected alternative for wastewater disposal
for the currently sewered portions  of  North Pinellas County because of a lack
of approved wasteload allocations for Pinellas County's  surface waters.

     It is the recommendation of  the  EIS that non-potable wastewater reuse at
parks, golf courses and other lands (and water conservation) be  identified as
the environmentally preferred alternative.   The  need for a wet weather backup
for wastewater that cannot be reused  is  likely to exist.  Potentially feasible
backup options include continued  but  intermittent  surface water discharges or
deep well injection.

     Reuse is  the  only  management option that responds  to the  area's surface
water quality  problems  while  addressing  groundwater supply  limitations.   The

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coses, advantages, and disadvantages of wastewater  reuse, which  are  summarized
below, are  discussed in more  detail in  the  Draft  EIS.   Cost comparisons
between reuse and non-reuse options  and the costs of  the  least costly  disposal
options are also presented in the Draft EIS.

     The advantages  in wastewater  reuse  include:   1) potentially high public
acceptance, 2)  reduced  reliance on  surface water  discharges  (and resultant
water quality improvements) and 3)  reduced strain  on limited public ground-
water supplies.   The disadvantages lay in:   1)  high cost,  2) the  need for
wet-weather back-ups  (surface  water discharge  back-ups  are constrained by
lack of approved wasteload  allocations),  3)  operability  considerations which
include soils variations  and  the need for reliable maintenance at  numerous
dispersed sites, and 4) amount  of wastewater  reused is dependent upon private
decisions and commitments.   In general terms,  the  cost of  wastewater reuse
represents an additional $41  to $48 million beyond the costs  associated with
surface water  disposal  options at  AWT  and  secondary  treatment  levels,
respectively.   These costs  include reuse  at all study area  facilities (i.e.,
Oldsmar; Clearwater  Northeast, East and  Marshall  Street;  Dunedin; North
Pinellas and Tarpon Springs).

     It should be noted  that  this recommendation is  to identify the environ-
mentally preferred  alternative, not the  "EPA fundable"  alternative.    The
"EPA fundable" alternative  will be selected upon completion of  the  wasteload
allocation process.   Additionally,  identification of the  environmentally
preferred alternative does  not preclude  the  consideration  of other disposal
options (e.g.  deep well  injection or intermittent  surface water discharges).
Deep well injection  is  a disposal option  that had  been considered as both a
primary and backup disposal option.  Local agencies may wish to  pursue further
deep well investigations to determine  its feasibility as  a disposal  option and
its relationship to a reuse alternative.

     Florida DER has indicated and  the EPA has concurred  that  a wasteload
allocation specifying advanced secondary   treatment (AST)  is appropriate for
the Tarpon Springs discharge to the  Anclote River  given current  water quality
considerations.    The effluent  concentration  must  not exceed  the  following
average concentrations:  6 milligrams  per liter  (mg/1)  of five-day BOD, 6 mg/1
of suspended solids, 6 mg/1 of  total nitrogen and  3 mg/1 of total phosphorus.

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Based on  this effort, continued discharge  to  the Anclote River has already
been pursued  by Tarpon Springs.  Decisions  in the North Pinellas service area
can  be  made  independently  of wasteload allocations.   Land application of
treated wastewater  on-site  and at  the Innisbrook Country Club  is  the most
cost-effective, environmentally sound disposal option for this area.

2)   Wastewater Management for the Area East of Lake Tarpon

     Existing wastewater management  methods east  of Lake  Tarpon  involve
individual  septic tanks with absorption field systems  and  private package
plants  that  serve  planned  community developments with  land application of
effluent  within that development.   With proper  maintenance and sufficient
acreage,  this practice has,  apparently,  been successful.   Water quality  or
public  health problems  associated with these  existing  systems  have not been
documented.   The County,  however,  has expressed a desire  for wet weather
back-ups  (e.g.,  surface  water discharges)  for these land application systems.
The  thrust  of facilities planning  in this  area  is  toward the  provision of
facilities  for future population growth.

     The  area east  of Lake  Tarpon contains  many sensitive environmental
features  that could be  potentially impacted by  increased development.   The
area is drained  by  Brooker Creek,  a major drainage basin of Lake Tarpon.  This
tributary system is composed of a  network of wetlands  and  floodplains  that
comprise  approximately  33 percent of  the  area east of Lake Tarpon.  Much of
the  area  is also a groundwater  recharge  zone which is  critical  to the  long
term viability of  the area's groundwater  supply.   One of  the area's major
public  water  supply well fields is located  in this  portion  of  the  Study Area.
EPA's participation in  funding facilities that would support development could
adversely affect  these sensitive environmental features.

     It is the  recommendation of  the EIS that  EPA  not provide  funding
assistance  for wastewater facilities  in  the area east of Lake Tarpon.   The
reasonable  alternatives  have been  evaluated in terms  of  cost,  impact,
reliability and implementability.    No water quality or  public health needs
have been identified necessitating  any major actions,  and  the provision of
                                       10

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additional  facilities  would  promote  growth  in environmentally  sensitive
areas.  County and private developers should  provide  facilities if desired to
support future growth.

     EFA's Construction Grants Regulations allow the Agency  to  fund  facilities
only to serve capacity for flows  existing on  the date of Step  3 grant  award,
but not to  exceed  1990 flows.  Since the basis  for many of the alternatives
for the area east of Lake Tarpon  is  to  serve  future development, the Agency's
funding role in this area should be limited.

     Since  the EIS  recommendation in this  area does not  involve  a surface
water discharge,  the wasteload allocation process is not a factor.

     Scientific and  engineering  support for proper management  of  on-lot and
other small wastewater systems east of  Lake Tarpon is available from numerous
sources.  The EPA's  experience with guiding the  management of small wastewater
systems throughout  the United  States  may be  helpful  to  local wastewater
managers, and such experience is  available upon  request.  Some suggestions for
providing the most  effective management of small  wastewater systems are  the
following:

     o    Interactions  between  the  local  health  agency  and
          homeowners are  quite  important.  A Homeowners Guide may
          be worth the effort needed to prepare.

     o    Engineers  should  be qualified  and  installers should be
          licensed  to  work  with all types of  on-lot  systems to be
          utilized.

     o    Installers could  be required to submit  quarterly  activity
          reports  (e.g. maintenance  and septage hauling activities -
          amounts and  locations).
                                        11

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3)   Environmental Statements Concerning a Gulf Outfall for Treated Wastewater

     A Marine  Sampling Program was  conducted  as  part of the EIS  to  collect
data to develop  a  Gulf outfall alternative for wastewater disposal to consider
along with  other disposal alternatives.   The Marine Sampling Program was also
designed  to generically demonstrate the evaluation methodology that should be
used in  considering a Gulf outfall.   Physical,  biological and chemical data
have been obtained in the EIS Marine Sampling Program.   The  Study  Area for the
sampling  program  included  20  miles of the  coast,  from the Belleair  Beach
Causeway  north to the Anclote  River,  and  extended 10 miles offshore  of  the
barrier islands.

     Of  the numerous environmental factors to be  considered,  three were chosen
as  being  the most important in the consideration of a Gulf outfall  in this
area:   potential health and aesthetic impacts at bathing beaches,  ecological
impact  to natural reef  hardbottom-limestone outcrops,  and  impairment of the
beneficial  uses  of the manmade  fishing reefs.

     The  following statements  concerning a Gulf outfall from northern Pinellas
County can  be made based on the Marine Sampling Program and EIS evaluations:

     o    It  would  provide  the area  with a  reliable  long-term
          wastewater disposal option;

     o    It  would  require  a   major  investment  of capital  in  a
          disposal option  that would  tend  to   discourage  the
          environmentally preferred alternative of wastewater reuse;

     o    It would involve  the  environmental  tradeoffs  of minimizing
          impact to  estuarine waters while increasing impacts to the
          Gulf  (i.e.,  bottom disruption and  community  alteration,
          attractant  to  fish  and  other organizms causing impacts,
          nutrient impact);
                                      12

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o    It  would remove  a development  constraint  that  would
     potentially  promote  higher  density  development   and
     development in  environmentally  sensitive areas which are
     not suitable for on-lot or recycle wastewater management;

o    Secondary treatment and  disinfection of wastewater would
     be necessary to minimize adverse  impacts of  an outfall on
     local beaches;

o    Station 3F was  selected  for detailed study to demonstrate
     the generic methodology  for evaluating  the  Gulf  outfall
     alternative.  The area of Station 3F which is  roughly four
     miles offshore  from Honeymoon Island, was found to  be less
     environmentally sensitive than other sites located closer
     to shore  that  were evaluated during the Marine Sampling
     Program;

o    Station 3F  appears  to be more cost  effective  than other
     stations  evaluated  during  the  Marine  Sampling  Program
     based on  estimated cost and  combined  impacts to public
     health,   the St.  Joseph  Sound  estuary  and  natural
     hardbottom reef habitat;

o    Nearshore Gulf  currents vary  such  that  predictions  of
     effluent movement  from a discharge  are uncertain.   Dye
     discharged in  the  area of  Station  3F during  the Marine
     Sampling Program generally  moved  in a south-southwesterly
     direction.  A  discharge  plume in the area of  Station 3F
     would be  expected  to  have  minimal  impact on  the area's
     beaches;

o    Any further consideration of  discharge  sites near Station
     3F should focus on areas slightly north of the exact study
     location to further minimize potential  impacts to usage  of
     the Dunedin Artificial Reef;
                                  13

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    o     The  precise outfall alignment and point of discharge would
          require additional  site-specific analyses  (i.e.,  site
          specific studies  to  select the exact outfall  route,  the
          discharge  point and required mitigation);

     o    Any  further  consideration  of  Station 3F or  any other
          potential Gulf  outfall  site would be subject  to permit/
          administrative review and approval.

                        PART C - REMAINING ALTERNATIVES
     Wasteload allocations for Old Tampa  Bay  and Clearwater Harbor-St.  Joseph
Sound are in the process of  being developed.  The  selected  treatment level  for
each body of water could be  as minimal as secondary wastewater  treatment or as
stringent as not allowing any wastewater discharge.

     Therefore, all of the screened alternatives listed in Table 1 and evaluat-
ed  in  the EIS for  the Clearwater East,  Clearwater Northeast,  Clearwater
Marshall Street,  Dunedin and Oldsmar service  areas remain under  consideration.
Costs, impacts on  the environment, operability  and  implementabillty of all
remaining alternatives are presented  in the Draft EIS.

     Two additional points need to be emphasized.  The  first  is  that no waste-
water alternatives for Clearwater, Oldsmar  and Dunedin  can  be determined to be
eligible for funding under the Construction Grants program  until the wasteload
allocations have been  finalized through Florida  DER.  The second point  is  that
any statements about  a Gulf  outfall  extending from the North Pinellas  County
Study Area pertain only  to this EIS.   Statements made about potential impacts
of  a  Gulf outfall may not be applicable to  other locations  along the Gulf
coast.
                                       14

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                                   TABLE  1
                      WASTEWATER DISPOSAL ALTERNATIVES
Designation                               Alternative

Individual Alternatives

City of Clearwater East (E)  Service  Area
                       Continue existing discharge  to Old Tampa Bay south of
                       the Courtney Campbell Causeway

   E_2(D              Discharge to Old Tampa Bay at different location south
                       of Causeway

   E_3                 Discharge to Old Tampa Bay north of Causeway

   E-17^             Distribution of reusable wastewater to parks, golf
                       courses and other lands for nonpotable uses

 City of  Clearwater Marshall Street (MS) Service Area

                       Continue existing discharge to Stevenson Creek

                       Discharge to Clearwater Harbor

                       Discharge via outfall to Gulf of Mexico extending  from
                       Clearwater Beach  Island

                       Distribution of  reusable wastewater to  parks, golf
                       courses  and other lands for nonpotable  uses

 City of Clearwater Northeast  (NE)  Service Area

    NE-1^             Resume former  discharge which flows into  Possum
                       Branch (and subsequently  to Old Tampa Bay)

    NE-2               Discharge directly  to Possum Branch

    NE-3               Discharge to Safety Harbor

    NE-4               Discharge to Old Tampa Bay north of  Causeway

    NE-16^           Discharge of reusable wastewater to  parks, golf courses
                        and other lands for nonpotable uses.

 City of Dunedin (D)  Service Area

    D-l^              Continue existing discharge to St. Joseph  Sound

    D_2                 Relocate discharge to some other location  in St.  Joseph
                        Sound
                                         15

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                                    TABLE 1
                                   (Cont'd.)
Designation                                Alternative

City of Dunedin  (D) Service Area  (cont'd.)

   D-3                 Discharge via outfall  to Gulf of Mexico extending from
                       Honeymoon  Island

   D-15                Distribution of reusable wastewater to parks, golf
                       courses  and other  lands for nonpotable uses.

North Pinellas  (NP) Service Area

   NP-1                Discharge  to St. Joseph Sound

   NP-2                Discharge  via outfall  to Gulf of Mexico extending from
                       Gulf coast north of Honeymoon Island

   NP-4^               Discharge  to Anclote River

   NP-15               Apply  wastewater to sites within the county including
                       sites  now  receiving effluent (land application)

   NP-19               Distribution of reusable wastewater to parks, golf
                       courses  and other  lands for nonpotable uses

City of Oldsmar  (0) Service Area

       ^  '
                        Discharge to Safety  Harbor

    0-2                 Discharge to Mobbly  Bay

    0-3                 Discharge the Old Tampa  Bay north of Courtney Campbell
                        Causeway

    0-5                 Combine with Higgins Power Plant cooling water and
                        effluent prior to discharge to Old Tampa Bay

    0-18                Distribution of reusable wastewater to parks, golf
                        courses and other lands  for nonpotable uses

 City of Tarpon Springs (TS)  Service Area

    TS-1                Continue existing discharge to Anclote River

    TS-2                Discharge via outfall to Gulf of Mexico extending from
                        Gulf  coast north of  Honeymoon Island

    TS-4                Discharge to St. Joseph  Sound

    TS-5                Discharge to different location within Anclote River
                                        16

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                                    TABLE 1
                                   (Cont'd.)
Designation                                Alternative

City of Tarpon Springs (TS)  Service Area (cont'd.)

   TS-6                Combine  with Anclote Power Plant cooling water and
                       effluent prior to discharge  to Gulf of Mexico

   TS-14               Apply wastewater to  sites within the county (land
                       application)

   TS-19               Distribution of reusable wastewater to parks, golf
                       courses  and other lands  for  nonpotable uses

Area East of Lake Tarpon

                       Various  systems for  individual establishments

                       Sub-division systems with  land application at golf
                       courses

                       Interceptor connecting to  the Oldsmar wastewater
                       treatment plant

                       Interceptor connecting to  the Tarpon Springs treatment
                       plant

Sub-Regional Alternatives

   Sub-Reg. 1  '        Discharge to Old Tampa Bay  south of Courtney Campbell
                       Causeway from the Clearwater East, Clearwater Northeast
                       and Oldsmar WWTPs (wastewater treatment plants)

   Sub-Reg. 2          Discharge to Old Tampa Bay  north of the Courtney
                       Campbell Causeway from the  Clearwater East, Clearwater
                       Northeast and Oldsmar WWTPs

   Sub-Reg. 3          Discharge to Clearwater Harbor gouth of the Memorial
                       Causeway from the Clearwater Marshall Street and Dunedin
                       WWTPs

   Sub-Reg. 4          Discharge to Clearwater Harbor south of the Dunedin
                       Causeway from the Clearwater Marshall Street and Dunedin
                       WWTPs

   Sub-Reg. 5          Discharge to St. Joseph Sound north of the Dunedin
                       Causeway from the Clearwater Marshall Street and Dunedin
                       WWTPs

   Sub-Reg. 6          Discharge to St. Joseph Sound north of the Dunedin
                       Causeway from the North Pinellas and Tarpon Springs
                       WWTPs
                                       17

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                                   TABLE  1
                                   (Cont'd.)
Designation                               Alternative

   Sub-Reg. 7         Discharge  to Anclote River from the North Pinellas and
                      Tarpon Springs WWTPs

   Sub-Reg. 8         Discharge  via outfall  to Gulf of Mexico extending from
                      Gulf  coast north of Honeymoon Island.  Discharges would
                      be  treated at the North Pinellas and Tarpon Springs
                      WWTPs

   Sub-Reg. 9         Discharge  via outfall  to Gulf of Mexico extending from
                      Honeymoon  Island.  Discharges would be treated at the
                      Clearwater Marshall Street and Dunedin WWTPs

   Sub-Reg. 10        Same  as  Sub-Reg. 9 except discharges to be disposed
                      would be treated at the Clearwater Marshall Street,
                      Dunedin, North Pinellas and Tarpon Springs WWTPs

   Sub-Reg. 11        Same  as  Sub-Reg. 9 except that the outfall would extend
                      from  Clearwater Beach  Island

   Sub-Reg. 12        Deep-well  injection at or south of the Clearwater
                      Marshall Street WWTP.  Discharges would be treated at
                      the Clearwater Marshall Street and Dunedin WWTPs.

   Sub-Reg. 13        Same  as  Sub-Reg. 12  (deep-well injection) except
                      wastewaters from the Clearwater East and Clearwater
                      Northeast  WWTPs would  be disposed.

Regional Alternatives

   Reg. 1             Discharge  to Old Tampa Bay, south  of Courtney Campbell
                      Causeway

   Reg. 2             Discharge  to St. Joseph Sound south of Dunedin Causeway

   Reg. 3             Discharge  to St. Joseph Sound north of Dunedin Causeway
                       at southern  end of Tarpon Springs

   Reg. 4              Gulf outfall extending from Honeymoon  Island

   Reg. 5              Gulf outfall extending from Clearwater Beach  Island

   Reg. 6              Deep-well injection at or south of the Clearwater
                       Marshall Street  WWTP


    Alternatives that are evaluated in detail.
                                       18

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             CHAPTER III






ERRATA AND REVISIONS TO THE DRAFT EIS

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                                 CHAPTER  III

                     ERRATA AND REVISIONS  TO THE DRAFT  E1S
Page     Paragraph      Lines

 vi


 ix
  1

  1          1

 10          2


 15          4


 15          5
 15
  16
 34
 2

 6


 3


2-3
3-4
            Corrections

A revised Table ii is provided in the
Executive Summary of this document.

A revised Figure ii is provided in the
Executive Summary of this document.

Figure 1 should follow page 35.

"Shown in Figure i, has"

"The City of Safety Harbor is currently
served by the"

"McKay Creek WWTP in the unincorporated
area of Pinellas County".

"are approved but due to either possible
well construction problems or inadequate
confinement, effluent is leaking to the
overlying aquifer."

"wells at the McKay Creek and South Cross
Bayou are inoperative at this time and
testing is scheduled to determine if
these facilities are leaking, and St.
Petersburg Northwest WWTP is being"

"wells at the Albert Whitted WWTP will be
utilized; two 30-inch diameters injection
wells are proposed."

Add the following footnote to Table 5:
"(3) These are  4th quarter 1980 costs."
                                       19

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           CHAPTER IV




PUBLIC COMMENTS AND EPA RESPONSES

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                                  CHAPTER IV

                       PUBLIC COMMENTS  AND EPA COMMENTS

                            PART A - ORAL COMMENTS
             Oral comments  on the Draft  EIS were received at a public hearing held on
June 11,  1985,  at the  Assembly Room of the Pinellas County Courthouse.  This
Chapter contains  the transcript of the hearing,  including introductory
statements made by representatives of  EPA.  Public comments and EPA's
responses start on page  38.

             Table 2 is  an  index to the  oral comments, and Table 3 summarizes the
general subjects  mentioned  by each commentor.


                           PART B - WRITTEN COMMENTS
             The hearing record remained open through June 25, 1985.  Letters were
received after that  date,  but all comments have been included here.  Table A
is an index to the written comments,  and Table 5 summarizes the general
subjects mentioned by each commentor.   The comment letters and EPA's responses
follow Tables 4 and  5.
                                       21

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                                                             TABLE 2

                                                     INDEX TO PUBLIC HEARING
                                           COMMENTS ON NORTH PINELLAS COUNTY DRAFT EIS
N)
Comment
Code
CCAW-1
CCAW-2
CCAW-3
CCAW-4
CCAW-5
JP-1
JP-2
JP-3
JP-4
JP-5
JP-6
JP-7
JP-8
JP-9
JP-10
JP-11
JP-1 2
JP-1 3
RK-1
RK-2
RK-3
RK-4
RK-5
Page(s)
38
39
39
39
39
40
41
41
42
42
44
44
45
46
46
47
49
50
51
52
52
53
54
Commentor
Committee for Clean Air and Water
Committee for Clean Air and Water
Committee for Clean Air and Water
Committee for Clean Air and Water
Committee for Clean Air and Water
Anchorage Homeowners Association
Anchorage Homeowners Association
Anchorage Homeowners Association
Anchorage Homeowners Association
Anchorage Homeowners Association
Anchorage Homeowners Association
Anchorage Homeowners Association
Anchorage Homeowners Association
Anchorage Homeowners Association
Anchorage Homeowners Association
Anchorage Homeowners Association
Anchorage Homeowners Association
Anchorage Homeowners Association
Dr. Robert Kuester
Dr. Robert Kuester
Dr. Robert Kuester
Dr. Robert Kuester
Dr. Robert Kuester
Nature of Comment
Capacity of Tarpon Springs Plant
System failure
Impacts of Gulf outfall
Tourism impacts
Support reuse
Population projections
Future study area problems
Cutoff for Federal Funds
Adequacy of wastewater treatment
Adequacy of treatment during wet weather
Plant consolidation
Legislate against development
Adequacy of wastewater treatment
Environmental feasibility of Gulf outfall
Intermittent wet weather discharge
Environmental feasibility of a Gulf outfall
Federal grant assistance availability
Lake Tarpon water quality
Lack of publicity
Support for EIS findings
Oppose Gulf outfall
Basis of costs
Limitations of Gulf outfall data

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                                                        TABLE 2  (Cont'd.)

                                                     INDEX TO PUBLIC HEARING
                                           COMMENTS ON NORTH PINELLAS COUNTY DRAFT  EIS
S3
OJ
Comment
Code
RK-6
RK-7
RK-8
RK-9
RK-10
RK-11
CO-1
CO-2
CO- 3
CO-4
CO-5
CO-6
CO- 7
CO-8
CO-9
CO- 10
CO- 11
CO- 12
CO- 13
CO- 14
CO- 15
CO- 16
Page(s)
54
55
55
55
56
56
59
60
61
61
62
63
65
66
66
67
68
69
69
69
70
70
Comment or
Dr. Robert Kuester
Dr. Robert Kuester
Dr. Robert Kuester
Dr. Robert Kuester
Dr. Robert Kuester
Dr. Robert Kuester
City of Oldsmar
City 'of Oldsmar
City of Oldsmar
City of Oldsmar
City of Oldsmar
City of Oldsmar
City of Oldsmar
City of Oldsmar
City of Oldsmar
City of Oldsmar
City of Oldsmar
City of Oldsmar
City of Oldsmar
City of Oldsmar
City of Oldsmar
City of Oldsmar
Nature of Comment
Support reuse
Oppose Gulf outfall backup for reuse
Development impacts of a Gulf outfall
EPA development of new water supplies
Current discharge of wastewater into Gulf
Groundwater recharge with effluent
Support reuse
Waste load allocation process
Conclusions of final wasteload allocation
Support land application and reuse
Support recycling of wastewater
Delay Final EIS
Solve future problems before they happen
Support recycling of wastewater
Outdated costs
Determination of new discharge
Determination of new discharge
Intermittent wet weather discharge
EIS study area
Funding of reuse
Outdated costs
Delay Final EIS

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                                                 TABLE 2 (Cont'd.)

                                              INDEX TO PUBLIC HEARING
                                    COMMENTS ON NORTH PINELLAS COUNTY DRAFT EIS
Comment
 Code
Page(s)
            Commentor
           Nature of Comment
PCSS-1
PCSS-2

PCSS-3
PCSS-4
PCSS-5
PCSS-6

AB-1
AB-2
AB-3
  76
  71

  71
  72
  72
  72

  74
  75
  75
Pinellas County Sewer System
Pinellas County Sewer System

Pinellas County Sewer System
Pinellas County Sewer System
Pinellas County Sewer System
Pinellas County Sewer System

Mr. Alfred Boyd
Mr. Alfred Boyd
Mr. Alfred Boyd
Accomplishment of EIS purposes
Wastewater alternatives for area east of
Lake Tarpon
Support reuse
Other disposal alternatives
Intermittent wet weather discharge
Accomplishment of EIS purpose

EIS Study Area
Septic tank effluent discharge
Water supply contamination

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                      TABLE  3
SUMMARY OF GENERAL TOPICS COVERED BY ORAL COMMENTS
TOPICS COVERED
TREATMENT PLANT
GULF OUTFALL IMPACTS
ECONOMIC IMPACTS
RFOSE
POPULATION PROJECTIONS
WASTEWATER DISCHARGE
ALTERNATIVE. FUNDING
INTERMITTENT WET
WEATHER DISCHARGE
ALTERNATIVES
CONSIDERED
DEVELOPMENT IMPACTS
LAKE TARPON IMPACTS
PUBLIC PARTICIPATION
PUBLIC ACCEPTANCE
COSTS
GULF OUTFALL
WATER SUPPLY
DEEP WELL INJECTION
WASTELOAD ALLOCATION
PROCESS
LAND APPLICATION
RECYCLING WASTEWATER
E.I.S. COMPLETION
OUTDATED COSTS
E.I.S- STUDY AREA
E.I.S. PURPOSES
SOURCE OF COMMENTS
COMMITTEE. FOR CLEAN
AIR AND WATER
1. 2
3
4
5




















ANCHORAGE
HOMEOWNERS
ASSOCIATION

9. II


1
2. A. 8
3. 12
5. 10
6
7
13













DR. ROBERT KUESTER

S. 8

6

10





1
2
4
3. 1
9
1 1







CITY OF OLDSMAR



1 . 4. 14

7. 10. 11

12









2. 3
4
5. 8
6. 16
9. IS
13

PINELLAS COUNTY
SEWER SYSTEM



3



5
2. 4














1. 6
MR. ALFRED 80YO





2









3






1


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               UNITED STATES  OF AMERICA
            ENVIRONMENTAL  PROTECTION AGENCY
                       REGION IV
In the Matter of:

    DRAFT EIS PUBLIC HEARING

    NORTH PINELLAS COUNTY,  FLORIDA
    ENVIRONMENTAL IMPACT STATEMENT
                for
    PROPOSED WASTEWATER FACILITIES
                       Time:

                       Date:
7:30 p.m.

June 11, 1985
                       Location:   Pine lias  County  Courthouse
                                   Fifth  Floor  Assembly Room
                                   Clearuater,  Florida
                        -oOo-
                    BAY PARK REPORTING
                      COIIK I  HI-POUTING
                     H  FOURIH STREET  NORTH
                                                     APPEARANCES:
                                                                                             THE  PANEL:
                                                                                                    ROBERT  HOWARD,  Hearing Officer
                                                                                                    Chief,  NEPA  Compliance Section
                                                                                                    EPA,  Region  IV
                                                                                                    Atlanta, Georgia
                                                                  DOUG BRAMLETT
                                                                  Environmental Specialist
                                                                  Florida Department of Environmental Regulation
                                                                  Tampa, Florida
                                                                                                    RON MT.KULAK
                                                                                                    EPA Project Officer,  EIS
                                                                                                    EPA, Region IV
                                                                                                    Atlanta, Georgia
                                                                                                              -oOo-
                                                                        BAY PARK REPORTING
                                                                           I nhR I  Rt-PORTlNU

                                                                         M lot'RIH SIFCFT NORTH
                                                                       SI  IM i I HSHURl.. FLORIDA  JI701

                                                                             |SII| I.')-Oil

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3

SPEAKERS:
MARY MOSLEY page 23
JOE PRESTON page 26
DR. ROBERT J. KUESTER page 37
ROBERT L. WILLIAMS page 44
DON MC CULLERS page 50
TODD TANBERG page 57
ALFRED BOYD page 61



-oOo-



BAY PARK REPORTING
i nlJR 1 Rl PORTINC
II IMI'RIH SIRI-FT NORIH
M PIIIRSBURf. FIORIDA II'OI
III I) l.'l-llll


1
7
3
4
5
6
7
8
9
10
1 1
12
13
14
15
16
i;
18
19
70
71
71

                   PROCEEDINGS
                              (Whereupon, at 7:36 p.m.  the
        public hearing was called to order)
HEARING OFFICER:
        Good evening.  I'd Itke to welcome everybody to the
public hearing on the Draft Environmental Impact Statement
for Proposed Wastewater Facilities in the north Pincllas
County, Florida area.
        My name is Robert Howard.  I am Chief of the NEPA
Compliance Section for the Environmental Protection Agency,
Region IV, located in Atlanta, Georgia.
        With me this evening on the hearing panel, on my left
is Doug Bramlett, an environmental specialist from the  Tampa
District: Office of the Florida DER; and on my right, Mr. Ron
Mlkulak, the EPA Project Officer for this Environmental Impact
Statement.
        I don't have any elected officials who indicated on
their cards that they were elected officials, but if there are
any, I would like to recognize them at this time.
        Are there any elected officials?
        (No response)
        Okay.  The purpose of this evening's hearing Is to re-
ceive public and other agencies' comments on the north Plnellasl
County Draft Environmental Impact Statement.  This EIS is belnd
prepared on wastewater facilities proposed In the 201 facility  |

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  plans  prepared  for  the  north and central  Pine lias County
  areas.
         The  preparation  of this EIS Is authorized by the
  Clean Water Act and  the National Environmental Policy Act.
  The Clean Water Act  enables EPA to fund up to 75% of the
  eligible costs  for the  planning, design, and construction
  of wastewater facilities.  Effective October 1st, 1984, this
 amount was reduced to 55%.
         The planning phase of this  process results  in the
 preparation of a plan for wastewater facilities  for  a 20-year
 designing period.
         Pinellas County  has  been designated  as the  local
 agency  responsible  for  facility planning in  this  area.
         The  National  Environmental  Policy  Act requires  federal
 agencies  to  prepare an Environmental Impact Statement  on
 major federal  actions significantly affecting the quality  of
 the human environment.
        Because  of the environmental complexities and water
 quality Issues involved  in this particular area and wastewater
 facilities for this area, EPA made the decision to prepare an
 Environmental  Impact  Statement on the 201 facilities plan.
        This public hearing is being held to receive comments
 on the Draft EIS pursuant to the guidelines of the President's
Council  on Environmental Quality and EPA rules and regulations
regarding preparation of EIS's.
         The Draft  EIS  is  being  discussed  in a  forum  to en-
 courage public  participation  in the  federal decision-making   j
 process and to  develop and  improve public  understanding of
 federa lly-funded  projects.
         The Draft  EIS  was made  available  to the  public and
 was  listed  in the  Federal Register on April 26th,  1985.  The
 Draft EIS comment  period will extend until June 25th, 1985.
 The  comments received  this evening and during  the  comment
 period  will become  part of the  record.  EFA will respond to
 the  comments received  this evening and in writing  in the
 final EIS.
         Before we receive your  comments this evening, I'd
 like to ask Mr. Mlkulak to give a brief summary of the EIS
and  some of the conclusions and recommendations that are
contained therein.
        Ron?
MR. MIKULAK:
        Thank you, Bob.
        Good evening.  As Bob mentioned,  my name is Ron
Mikulak, the Project Officer for the  north Pinellas EIS.
        What I'd like to do this evening,  before we receive
your comments,  is to provide you with a  little  bit  of back-
ground of the EIS,  what we have  done, the  conclusions and
recommendations  that we've come  out with  thus  far in order  to
set the stage and put things  in  perspective for your  comments.

-------
         What  I'll be doing Is following very closely to the
 handout that you should've picked up when you came In this
 evening.  The first page of the handout is Just an agenda
 Item, which summarizes what we'll be going over this evening.
 The next four pages of the handout, we put together a brief
 summary.  It's basically a brief outline of what I'll be
 going over this evening so you can follow along some of the
 details-that I won't be mentioning specifically, but you can
 follow along with the details.
         I've also Included two tables, one which outlines
 the status for existing wastewater facilities  In the study
 area.  The second table Is a  summary of Implementablllty,
 operablllty, and environmental Impact factors  of some of the
 alternatives;  and finally,  there  are three maps  that I'll be
 referring  to.
        So If  you just  bear with  roe  In the  rustling  of  the
 papers back  and  forth,  I'll start  off  with  a short discussion
 of  what the  purpose  of  the north  Pine lias EIS was.
        As we  Indicate, we put down  three basic  objectives
 that we tried  to address through  the preparation of this EIS,
 the first being the  Identification and evaluation of waste-
water disposal alternatives for the existing treatment
facilities In northern Pine lias County; secondly, to  Identify
and evaluate wastewater management alternatives for the area
east of Lake Tarpon  that Is not now currently served by the
10
11
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13
u
15
16
17
18
19
20
21
22
13
24
25
existing municipal facilities; and thirdly,  to evaluate the
Impacts and costs associated with disposal of wastewater via
Gulf outfall extending from northern Plnellas County.
        Again, to put things In a little bit better per-
spective, I'll take a few moments and go Into some  of  the
background of this EIS and facilities planning In this area,
and I'11 be brief with my comments.
        As Bob Indicated In his comments concerning the
Clean Water Act, the Clean Water Act was first passed  In
1972, and It was further amended In 1977 and 1981 with the
basic intent to Improve the quality of the nation's waters.
        One of the primary mechanisms that's been employed
In the Clean Water Act Is Section 201.  Section 201 authorized j
EPA, as Bob mentioned, to fund wastewater facilities through
the grants, the construction grants program.
        It started out In the 75% funding level for planning,
design, and construction, and has now recently been reduced
to a 557. level.
        To meet the mandate of the Clean Water Act, state
           i
water pollution control agencies designate local agencies to
carry out the specific task of planning for wastewater
management strategies.
        These strategies are typically called 201 facilities
plans, and again, as It was mentioned, In this area there
were two plans In the study area, the EIS study area.

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        There were two plans that were prepared, both under



the direction of Pine lias County, and they were the north



Pine lias and central Pine lias County 201 plans.



        The north Pine lias County plan was completed in May



of '78, and the central Pine lias County plan was completed



In April of 1979.




        The 201 plan's recommendations generally proposed



that all nearshore surface water discharges be replaced by



several deep well injection and spray irrigation alternatives.



Additionally, Gulf outfall was proposed as a primary disposal



option for some discharges and as a back-up for others.



        EPA's review of the 201 plans raisedsubstantive



questions concerning the deep well injection and the Gulf




outfall alternatives.



        Additionally, the lack of approved wasteload alloca-




tions for nearshore wastewater discharges and the Impact



considering the environmentally sensitive area east' of Lake



Tarpon were additional concerns that were raised in EPA's




review of< the plans.



        To address these concerns, EPA determined that it was



necessary to prepare an environmental impact statement,  and in




May of 1979 the EIS Notice of Intent was issued, and the EIS



was initiated.



        The issues that were determined to be Important and



to be addressed in the EIS, as identified through a scoping















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                                                                                                                                                    u
 process that we were  Involved with,  Included  four major



 issues.  They Include wastewater  disposal alternatives for



 northern Pine lias  County,  wastewater management alternatives



 for the area east  of  Lake  Tarpon,  the  consideration of Gulf



 outfall, as  well as the  consideration  of the  reuse of treated



 wastewater.




         To get  a better  fix  or better  handle  on what the



 existing situation is  like,  I can refer you to Table i and



 Figure  1 of  the handout  in which we  outline and summarize the



 status  of existing wastewater facilities in the area.



         Very  briefly, we're  dealing  with eight municipal




 wastewater treatment  plants  with a 1984 capacity of roughly



 33  million gallons per day.




         In summary, the Clearwater East Sewage Treatment Plant



 discharges to Old Tampa Bay;  the Clearwater Marshall Street



 Sewage  Treatment Plant discharges to Stevenson Creek and then



 to  Clearwater Harbor;  the Clearwater Northeast Plant now dis-



 charges  to the Clearwater East outfall; the  Dunedin  Mainland



 Plant discharges to St. Joseph Sound; the Oldsmar  Sewage  Treat-



 ment Plant discharges  to evaporation-percolation  ponds  on site;



 Safety Harbor discharges to Mullet Creek and  then  to Old  Tampa



 Bay; the Tarpon Springs facility  discharges  to Anclote  River,



and the area  east of Lake Tarpon  is served by  on-lot systems



 or by package plants with a combination of holding ponds  and



 then spray irrigation  on golf courses and other  open lands.

-------
         Toward the bottom of the page of the  first  page of

 the summary, a bulleted item under Alternatives,  In develop-

 ing alternatives for the study area six  basic alternatives

 were considered, including continued discharge  to nearshore

 coastal waters, the Gulf outfall,  deep well injection, land

 application, wastewater reuse, and the no-federal action

 alternative.


         In applying these alternatives to  the study area,

 several subareas were  delineated in conducting  the EIS.  For

 example, the Oldsmar,  the Clearwater Northeast  Plant, and the

 Clearwater East Plant  were grouped together to  form what we

 call  the Old Tampa  Bay Subarea,  because  they all discharge to

 the Old Tampa Bay drainage area.

         The Dunedin and the Clearwater Marshall Street treat-

 ment  plants were  grouped  together  on the other side of the

 mainland in what  we call  the Clearwater Harbor, St. Joseph

 Sound Subarea.

         The North Pinellas County Treatment Facility was  its

 own North Pinellas County Subarea, as well as  the Tarpon

 Springs  facility was in the Tarpon Springs Subarea.

        Next we were somewhat  limited in how far we could  take
                                     *
 the alternatives  in the evaluation process, since approved

waste load allocations from Florida DER were not available  for

most of  Pinellas County surface waters, with the exception of

wasteload allocation for Tarpon Springs, Anclote River.
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        Therefore, a range of treatment levels from secondary

 to advanced treatment and a series of combinations from in-

 dividual sewage treatment plants to sub-regional treatment

 plants, meaning two or more treatment facilities, and finally,

 regional alternatives which would involve all facilities com-

 bined were considered.

        The alternatives were then screened on the basis of

 cost, Impact, operability, implementability, to determine

which of those should be carried on for further consideration,

and because of those factors, many of the alternatives either

 for high cost or implementability concerns or environmental

 impact concerns were dropped from further consideration.

        Costs for the least cost disposal options for each

of the subareas and the overall cost of the range of alterna-

tives were also determined.  For example, on the handout on

page 2 in the middle of the page, individual service area

alternatives — that is, each treatment facility maintaining

its own service area uncombined with anyone else but with

secondary treatment to continue discharges to near surface —

excuse me -- discharge to nearshore surface waters -- came out

with a present worth cost in the neighborhood of 48 million

dollars.

        Next came maintaining the individual service area

alternatives but increasing the level of treatment to advanced

treatment continued with nearshore surface water discharge

-------
Increased the cose to 86 million dollars.                     I

        A system of reuse in which reuse would be  instituted  I
                                                             i
at each of the treatment facilities but with treatment  levels

at secondary plus filtration resulted In a  cost of 96 million

dollars .

        A regional Gulf outfall -- that is, combining all

uastewater in the area and discharging it  through  a single

Gulf outfall -- results in a cost of roughly 101 million

dollars.

        A regional deep well injection alternative sees an

increase to a cost of 105 million dollars;  and finally, a

system of reuse but increasing the level of treatment to

advanced treatment would see a cost of 121  million dollars.

        In addition to cost, as 1 mentioned, we did look at

implementability, operability, environmental impact factors

for the disposal alternatives.  Rather than go at  this  time

into the details of the results of those evaluations, I refer

you at your  leisure to Table ii in the handout. You've

probably reviewed the information from the  EIS already, but

for tonight  I've summarized and concluded  in that table.

        In considering the factors of the alternatives'

evaluation process and without approved wasteload  allocations

for most of  Pinellas County surface waters, we came to the

conclusion very quickly that a study area-wide alternative

that can be considered the most cost-effective environmentally
sound wastewater management option for north Pinellas County


cannot at this time be selected.


        The EIS can, however, narrow the field -- I should


say the EIS has rather than can -- has, however, narrowed the


field of reasonable alternatives,  presents costs and impacts


associated with various effluent limitation combinations  and


identifies constraints or limitations of the alternatives.


        On the third page of the handout, continuing with


the conclusions of the EIS, we point out that decisions  in


Tarpon Springs for the area east of Lake Tarpon and the north

Pinellas service area can be made  and are not dependent  on


forthcoming wasteload allocations.


        EPA funding participation  in the area east of Lake

Tarpon Is limited by both regulation and policy.  I'll expound


on that in a few moments .

        The environmental cost conclusions can be offered


concerning the Gulf outfall extending from northern Pinellas


County and, finally, an area-wide  environmentally-preferred


alternative can be and is identified in the EIS.


        And what I'd like to do with the few minutes remaining


and the few pages left in the handout is to go over what  we

consider to be the recommendations of the Draft EIS at this


time and probably those recommendations that you'll be com-


menting on in just a few moments.

        The first recommendation deals with wastewater reuse.

-------
 The  wastewater  reuse alternative  for each service area Is
 identified as the  environmentally-preferred disposal alterna-
 tive.   Reuse  Is the only management option that responds to
 the  area's surface water quality  problems while addressing
 groundwater supply limitations.
        The costs, the advantages, and the disadvantages
 should  be  clearly  outlined  to the community and local de-
 cision  makers.   The need for a vet-weather back-up for waste-
 water that cannot  be reused Is likely to exist.  Potentially
 feasible back-up options Include continued but Intermittent
 surface water discharges or deep well Injection.  It should
 be noted that this recommendation Is to Identify the environ-
 mentally-preferred alternative and Is not necessarily the
 fundable alternative, the EPA fundable alternative.
        The fundable alternatives for both Clearwater Harbor
 and  St. Joseph  Sound and the Old Tampa Bay subareaa will be
 selected upon completion of the wasteload allocation process.
Additionally, Identification of the environmentally-preferred
alternative does not preclude the consideration of other
disposal options.
        Deep well  injection is a disposal option that has beer
considered as both a primary and a back-up disposal option.
Local agencies may wish to  pursue further deep well injection
Investigations to determine its feasibility as a disposal
option and  its relationship to a reuse alternative.  In this
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 regard, potential reuse distribution sites and distribution
 lines are shown on Figure 2 of tonight's handout.
         The second recommendation deals with the Tarpon
 Springs subarea.  Discharge to the Anclote River of advanced
 secondary treated effluent la the recommended alternative
 for Tarpon Springs In accordance with the approved wasteload
 allocation, and in fact the project for Tarpon Springs  has
 been broken out of the EIS and   is proceeding.
         Recommendation number three,  the north Pinellas  sub- ;
 area.  Land application of the existing site  and  at the       i
                                                              i
 Innisbrook Country Club has been  shown  to be  the  most cost-   '
 effective  environmentally-sound option  available.   Regardless
 of wasteload allocations,  land application is  the  recommended
 alternative  for north  Pinellas subarea.
        Recommendations  four and  five combined deal with  the
 Clearwater Harbor/St. Joseph Sound subarea and the Old Tampa
 Bay subarea.  In the absence of wasteload allocation for  these
 subareas, numerous alternatives remain viable for the Dunedln,
 Marshall Street, Oldsmar, the Clearwater Northeast and Clear-
 water East service areas.
        The information from the EIS process is available to
 the state for their use In decisions,  for their decisions.
Upon completion of the wasteload allocation process, the  most
cost-effective, environmentally-sound  option for funding
eligibility can then be selected.

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                                                                                   :i
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        Recommendation number six deals with the area east of


Lake Tarpon.  EPA's policy and regulations concerning funding


facilities in environmentally-sensitive areas and funding


capacity for future flows do not allow funding assistance In


the area east of Lake Tarpon.

        The reasonable alternatives of on-lot systems, package


plants, and land application or connection to the Oldsmar

Sewage Treatment Plant have been evaluated In terms of cost,


Impact, reliability, and  Implementablllty.  This Information  {
                                                              (

Is available to the county and private developers for local   j


decision making.                                              I

        EPA encourages governing bodies within the study area j


to consider the function  and value of environmentally-sensitive


undeveloped areas east of Lake Tarpon, and that Is groundwater,


recharge areas, wetlands, flood plains in future planning and


development decisions.

        EPA's construction grants regulations allow the agency


to fund facilities only to serve capacity for flows existing


on the date of a Step Three grant; that is, for construction


but not to exceed the year 1990 flows.

        Since the basis for many of the alternatives  for  the


area east of Lake Tarpon  is to serve future development, EPA

will not participate in funding wastewater facilities in  this


area.

        Recommendation number seven deals with the Gulf
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 outfall, and I refer you to Figure Number 3 In the  handout.


         As part of this EIS, a marine measurement and  sampling

 program was conducted during 1980 to better define  existing


 environmental and physiographic conditions  In  the nearshore


 Gulf of Mexico off northern Pine lias County.


         The data  collected  during the sampling  program were


 utilized to assist in evaluating the Gulf outfall wastewater


 disposal alternative and  to generically demonstrate  the


 methodology that  should be  used in considering  the Gulf outfall.

         The general findings  related to the Gulf outfall from

 northern Pine lias  County are  as follows:


         It  would  provide  the  area  with a  reliable, long-term


 wastewater  disposal  option.   It would require a major  invest-


 ment  of capital in  a disposal  option that would tend to


 discourage  the environmentally-preferred alternative of waste-

 water reuse.  It would  Involve  the environmental tradeoffs of

 minimizing  Impacts to nearshore waters while increasing im-


 pacts to  the Gulf.   It would remove a development constraint


 that would  potentially  promote higher density development  and


 development in environmentally-sensitive areas  which are  not


 suitable for on-lot  or recycle wastewater management.


        Secondary treatment and disinfection of wastewater


would be necessary to minimize impacts of an outfall on local


beaches.


        Station 3F, which is shown on Figure 3, is  roughly

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                                                              19
 four miles offshore from Honeymoon Island and was selected
 for additional study to further demonstrate the methodology
 for evaluating the Gulf outfall.
        The area of Station 3F was found to be less environ-
 mentally sensitive than other sites located closer to shore
 that were evaluated during the marine sampling program.
 Station 3F appears to be the most cost-effective, more cost-
 effective than other stations evaluated during the marine
 sampling program based on estimated costs and combined impacts
 to public health, the St. Joseph Sound estuary and natural
 . hardbottom reef habitat.
        Nearshore Gulf currents vary such that predictions
 of effluent movement from a discharge are uncertain.  Dye
 discharged in the area of Station 3F during the marine
 sampling program generally moved in a south, southwesterly
 direction.
        A discharge plume In the area of Station 3F would be
 expected to have minimal impact on area beaches.  Any further !
 consideration of discharge sites near Station 3F should focus
 on areas slightly north of the exact study location to further
minimize potential impacts to usage of the Dunedln Artificial
Reef.
        A precise outfall alignment and point of discharge
would require additional site-specific analyses; that is,
                                           •
Site-specific studies to select the exact outfall route, the
discharge point, and any required mitigation.  Any further
consideration of Station 3F or any other potential Gulf out-
fall site would be subject to permit administrative review
and approval.
        The final recommendation in the EIS deals with water
conservation.  Due to the potential reductions in water
consumption and reductions in potential wastewater management
costs, local governments are encouraged to pursue a water
conservation program.
        And finally, I'd like to indicate where we go from    !
here and what our general time frame with the EIS process is. ;
I Indicate that the Draft EIS comment period closes on June   j
25th, two weeks from this evening.  It is proposed that the
final EIS be Issued in September of 1985.
        I think it's important to note that upon completion
and approval of waste load allocations for Pine Has County
surface waters, an EIS supplement may be necessary, to outline
selected and EPA fundable wastewater management alternative
options for north Pine Has County when that Information is
made available.
        My comments, my brief comments, are concluded.  I turn
the meeting back over to Bob.
HEARING OFFICER:
        Thank you for your brief comments, Ron.
        I'd like to now ask Doug Bramlett of the DER for some

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                                                              .21
comments  from DER.




MR.  BRAMLETT:



        My name  Is Doug Bramlett.  I represent the Tampa



District  Office  of DER.




        Just a couple brief statements about the waste load



allocation studies that are needed to be completed as soon as



possible.  I know that it's been some time since we've started



these studies, and in talking to my bureau of water quality




management this  morning, the dates that they give me for



completion for the final draft of the Tampa Bay wasteload




allocation study will be in the summer of 1985.  They cannot



give me a month.  I'm assuming they mean July or August of




1985.  That'll be the final allocation study for Tampa Bay.




        For the St.  Joseph Sound and Clearwater Harbor study,



they are  projecting that a draft will be ready the first



quarter of 1986, and a final allocation will be issued in the



spring of 1986.



        That basically is the only information I have about



the studies and the  completion dates.




        If I can answer questions, I'll be glad to do the best



that I can.  I have  not done these studies myself.  I would



probably have to just field your questions and then go to



Tallahassee and try  to get the answers for you.




HEARING OFFICER:



        Thank you, Doug.
        I just want to remark a little bit  about  the  process



of wasteload allocations.  It is  not  a very simple  process,



and when you're dealing with a system such  as  Tampa Bay with




the resources that are there and  the  wastewater discharges



we're talking about, it is not a  very simple process, and  I



think we all should appreciate that  this  process  does take




quite a while to come to a conclusion.



        Thank you, Doug.



        I just want to encourage  anybody  who hasn't already



done so, or if Lawrence Benander  didn't catch you as  you  came



in, to please register before you leave this evening.  We'd



like to have a complete record of everyone  who was here.




        Also, if you wish to speak and did  not register,  if




you would let me know after the other speakers have talked,



and I will call on you to speak.



        I think, with the number  of  speakers that we  have




registered, I'm not going to limit any of the speakers  in  the



length of their comments.  I would say that if any speaker



starts taking a great deal of time and the  comments get very,



very detailed, I may ask that you summarize your  comments  and




please give us your more detailed comments  in writing.



        Also, if any of you have  a written text of your



comments as you're giving your comments,  if you have  an extra




copy, please give us a copy so we can follow along, or after



you've made your comments, if you could give us your  written

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                                                                      2.
 text, we'd appreciate that.

         One other thing before we get started, when I call on

 people, If you'll please just come up and give me your name,

 and if you represent anyone, please just let us know who you

 represent, any group or organization.

         And with that,  let me call on our first speaker, Mary

 Mosley, representing CCAW.

 MS. MOSLEY:

         Mary Mosley, CCAW.  I'd like to ask a  question before

 we  get started about Table 1.  Am I led to believe  that this

 Is  a little over 3 million gallons written here for the City

 of  Tarpon  Springs?

 HEARING OFFICER:

         What we have on this table,  If  you're  looking  In the

 first  column,  1984 Capacity  In MGD over 1984 Flow In MGD --

 MS.  MOSLEY:

         Uh-huh (affirmatively).

 HEARING  OFFICER:

         -- what we have  there  Is,  and let me make sure  that I

 have this correct,  the  first  number  Is  the capacity of  the

 plant; the second  number Is  the actual  flow that's  In the

 plant.
   23   MS.  MOSLEY:
        Well, EPA, that Is not possible.  I'm Just 	 I would
                                           *
like to be on record that the Tarpon Springs wastewater

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treatment plant was peaking at over 4 million in 1981, and I
would just love to have EPA come and take a look at what's
going on.  It can't happen Just bypassing in Pasco County.
        I Just want to ask one other question.  We understand
that EPA may be coming to Florida and perhaps our county  --  is
that true -- maybe putting a regional office?
HEARING OFFICER:
        That's not true as far as I know.
bE . MOSLEY :
        That's too bad.  We really need a responsible  and
responsive agency here.  Elected officials  swear when  they
take office that they will protect the  public health and
welfare.
        As you enter  this county, you can see that  the
opposite holds true.  Severe  traffic  problems,  public  service
inadequacies, air  pollution,  and water  restrictions  are the
norm.  There are higher  taxes and  less  of  those reasons that
we chose to  live here.
        A Gulf outfall would  solve  the  politician's  headache
of what  to do with wastewater from rampant, uncontrolled
growth, but  this could  prove  economically  and environmentally
disastrous.
        This county's input at the  public  hearing that was hel
regarding  the  proposed  state  land use plan was to object to
any  outside  control.   This  attitude has caused a systematic
                                                                                CCAW-l.       The values presented  in Table i represent average flow,
                                                                                         not peak flow.

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       "25
and ongoing wasting of our natural  resources.   Repair to a

transmission line results In  tens  of  thousands of gallons of

raw sewage being released to  the bay.

        A Gulf outfall could  have  potential Impacts to beaches

resulting In their being closed.   Bacterial and viral con-

tamination, over-enrichment with nutrients  resulting In exces-


sive phytoplankton growth impacts  to  reefs  and marine systems


may occur even with the best  Intentions.

        Our number one Industry, tourism, would be seriously

affected resulting In millions  of  dollars'  revenue lost.


        For years the Environmental Protection Agency and the


Department of Environmental Regulation have been aware as to


the seriousness of water shortage.  What would be more cost-


effective and protect our Florida  waters would be the reuse


of water.

        We urge you to Implement this concept.  The time for


this Idea Is now, not after  the developers  have gone, and In

their green wake they have  left millions  of new residents.


Emergency measures never  consider  the environment.  If the

county  lays? new pipes for new development,  why not lay the

grounds for reuse.

        Thank you.


HEARING OFFICER:

        Thank you, Ms. Mosley.

        My next speaker,  I  have a  maybe listed here, so  I'll
CCAW-2.      'EPA Is not aware of raw sewage being discharged to Anclote
        Sound.
CCAW-3.       These impacts are addressed in the Draft BIS.
CCAW-4.       Comment noted.
CCAW-5.       Conraent noted.

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go ahead and ask  if they'd still  like  to speak.

        Don McCullers?

MR. MCCULLERS:

        I would like to wait and  hear  all the  comments  tonight

HEARING OFFICER:

        All right.  I'll  put you  at  the  bottom of the list

and call on you at the end.

        The next  speaker  Is Joe Preston.

MR. PRESTON:

        My name Is Joe Preston.   I  live  In Eastlake,  And  I

guess I'm more concerned  about  the  statements  that policy and

regulations preclude any  action by  you people  with respect to

the discharge of  effluent.

        We're going to go from  ten  thousand people to eighty

thousand people In a very short time.  Studies that were

conducted sometime ago by the county Indicated that this

explosion of eighty to a  hundred  thousand people will come

sometime In the year 2000.  It's  happening right now.  I think

that my studies would show that probably, If not here now,

It's going to occur by 1990.

        I can't understand — and this Is a question -- how

you think, how you come to the conclusion that this is  a

future development.  The  people are  moving In  now.  The five

small treatment plants out there  are keeping abreast of the

situation, but every day  they're  moving  In --  not hundreds of
JP-1.
             Population projections established by the Plnellas County
        Planning Department were used In the E1S.

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                                                                 .27
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 people yet, but  it's  going to come, because  there are --

 developments are  there,  and the people are building.

         May I ask that question now?  What promoted this

 conclusion that  this  Is  a future development,  quotes, future?

 HEARING OFFICER:

         The conclusion comes from our population projections

 based on our existing population in the area and the fact

 that the existing populations are being served by existing

 treatment systems, which seem to be adequate at the time, and

 the  need for additional  capacity and additional facilities

 are  based on population  projections beyond that of 1990,

 population estimate.

 MR.  PRESTON:

         Are you saying 1990 is  the future?

 HEARING OFFICER:

         1990  is the cutoff  date for the availability of

 federal funds  for any  kind  of wastewater treatment facilities.

 MR.  PRESTON:

         If we  have a hundred  thousand  people in  the  area by

 1990,  then the government's certainly  missed the ball, and I

 don't  know how you did your study,  if  you just took  the  sta-

 tistics  or if  you cruised along in your car on 77  between

State  Route 582  and State Route 584; first of all, you'd

 probably  be run over by the trucks  that are supplying the

construction in that area.
JP-2.
JP-3.
             The conclusion Is based on the fact that existing populations
         are being served by existing waatewater treatment  systems  which
         appear adequate. The focus of facilities and capacity that is
         referred to In this comment are foi future development, not
         existing development.
    Based on the recent Amendments  to the Clean Water Act,  EPA'n
Construction Grants Regulations allow EPA to fund facilities for
flows existing on the date of Step 3 (construction) grant award,
but not to exceed the year 1990 flows.

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                                                                    28
        And  everybody, It seems, except  the  federal government

knows  that  that's  the fastest growing area In  Pine lias  County,

so here we are  with barely enough treatment  plants.   Just

recently,  In addition to the five that we're talking about,

just recently Oldsmar has announced that  they  are at capacity,

and I  think  Clearwater's in the same spot, and I would  exoect

to hear tonight that Ounedin is in trouble,  too.

        Here we have this north, as I understand it,  i>i the

northern Pine lias  area that you're studying  that	You're

playing brinkmanship with this, and if you wait till 1990,

you're going to be trying to play catch up, and I don't think

you're ever  going  to make it, and I guess it's  like  being

left alone in a raft without a paddle out there.

        We Just don't know — We can't understand your con-

clusions.  I've been coming to these meetings  since  1968.   It

seems that your study has been, what I pick up, I can't fault

that but --  and you've come to the conclusion, I think,  that

there's something  needed, particularly in Eastlake,  is  that

true?  Is there something needed now in your opinion?

HEARING OFFICER:

        I  think our conclusion was that now  the current system:

that are in  that area are providing satisfactory treatment.

MR. PRESTON:

        Also in wet weather?  I can't believe  that.   I  can't

believe you've  come to that conclusion.
JP-4.
             The conclusion Is that the current systems in  the area cast of
         Lake Tarpon are providing satisfactory vastewater treatment.
JP-5.
             Although it is generally recognized that It may be desirable
         In the Study Area to have a wet weather back-up, no data were found
         which showed the systems are not working satiofactorlly during wet
         weather conditions.

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    HEARING OFFICER:



            We don't have any Information that disputes that.



    MR. PRESTON:



            Well, whatever, I 	



5   HEARING OFFICER:



6           We'd be happy to receive any Information that you



    might have.



    MR. PRESTON:



' II         Well, I'm a private citizen.  I'm going on my own



10   Investigations and comments from various people who manage



n   these wastewater treatment plants.



12           And, for an example, I believe ten years ago It'was



13   recognized In that area, when the population was much less,



u   that the treatment plant, one treatment plant, particularly



15   In the Tarpon Lake Village Golf Course, was considered



IA   Inadequate at that time, and there were plans to transport



17   the wastewater, I guess to the Gulf, but certainly not  on



ia   toward Clearwater and out through — out toward St. Joseph



19   Sound.



20           It seems that my Information leads me to believe that



2t   the experts  In  Pine lias County believe that not only do we



22   have to have something, some way of discharging the effluent,



23   which Is another matter, but we also have to have an Improve-



24   ment In the  plant.  Consolidation of the five plants perhaps 1



25 || an answer.   I gather that that's entirely out of your scope of

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concern,  Is that  true?

HEARING OFFICER:

        I might just  remark that the overall construction

grants program  Is  based  on a system of setting priorities at

the state level.   Those  priorities  are weighted based on

existing  problems  for the  most part.  That Is where they are

having severe water quality or public health kinds of problems

and with  the reduced  amount of funding that we're having now

coming from the Congress and the emphasis on cutting back on

the role  that the  federal  government's playing In this area,

we're just seeing the priorities going to existing problems

rather than providing additional funding to support growth

and development In developing areas.  It's just a fact of life

t oday.

MR. PRESTON:

        In answer  to  that  comment,  would the federal govern-

ment consider designating  Florida,  and perhaps the north

Pinelias County, as being  no longer available for development

Would you legislate against development there?

HEARING OFFICER:

        EPA Is not In the  business  of legislating for —

MR. PRESTON:

        Well, wait.   I didn't ---

HEARING OFFICER:

        -- or against development.
JP-6.         Consideration In the BIS wa« given to vastevater treatment
        plant consolidation.
jp-7.         EPA does not nor does EPA possess the authority to legislate
         for or against development.

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 MR. PRESTON:
         I didn't say EPA.  You allude to the government  --
 HEARING OFFICER:
         What we've come here —
 MR. PRESTON:
         -- and you said the government's policy.  Go ahead,
 sir.   I'm sorry.  I'm just trying to keep you under  government
 policy, not on EPA.
 HEARING OFFICER:
         Right.  What I'm trying to tell  you  is  that  EPA's
 policy  regarding the funding and the  use of  201 construction
 grants  funds is  that it will be used  to  correct existing
 problems,  and it will  not  be used  in  the  future for  promoting
 and providing for future development.
 MR. PRESTON:
         I  won't  say it again.   I just argue  that we have an
 existing problem,  not  a  1990 problem, and regardless -- 'cause
 your opinion and  my  opinion  differ, of course.  In your opin-
 ion, there  Is  no  existing  problem.  In my opinion, Che problem
 is  there and  it exists  today.
        Well,  the  other  problem  that I see is in the transport
 of effluent  somewhere  into the Gulf waters or into -- by means
of deep well  injection.
        Well,  first of all,  deep well injection In Eastlake
doesn't seem  to be feasible because that is very environmental
JP-8.
            Coment noted.

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 sensitive, as you  probably  know, and again  I'm not  the expert

 on that, so the alternative, as this other  lady  said,  of

 transporting It into  the  Gulf depends on other studies, I

 gather, Is that true?

         In other words  	  Let me try to simplify that ques-

 tion.   To discharge effluent Into the Gulf  four  miles  west of

 Honeymoon is not a proven solution, is it?  Is it feasible?

 Is  it  environmentally sound?

 HEARING OFFICER:

         What we came up with is that, in the cost evaluation

 and  the evaluation of environmental impacts comparing  the

 discharge of wastewater to  the Gulf versus  the wastewater

 reuse  alternative, we found the wastewater  reuse alternative

 to be  cost competitive  and  environmentally  preferable.

 MR.  PRESTON:

         Yes,  but again, to  make sure that I understand,  that

 is with the exception of  during the wet periods, because we

 can't  do anything with  it.   We have no storage area  in East-

 lake.   Is that  true?

HEARING OFFICER:

         I think we recognize that at some point  In time  there

will have to  be some accommodations made  for some wet weather

 discharge.

MR.  PRESTON:

         Well,  I'll say  it.   It can't be deep well.   I'll  say
JP-9.
JP-10.
             The Draft EIS presents costs, environmental Impacts and opera-
         tion and Implementation factors of Gulf  outfall alternatives KB
         well as other alternatives which were considered.  The EIS contains
         several environmental statements concerning a Gulf outfall alterna-
         tive (see page 12 of this document); however, no Gulf outfalls nnw
         exist In Region IV.
             The Draft EIS recognizes that some accommodations will have to
         be made for wet weather discharges In the future.

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 It again,  and  the  only other alternative is into  the Gulf,

 and  I don't  think  you've answered my question as  to whether

 that ia  environmentally feasible.

 HEARING  OFFICER:

          We don't have also wasteload allocations  for dis-

 charge to  nearshore  surface waters for wet weather periods

 either.  I think there are more than Just the one alternative

 for Gulf outfall that you have  suggested.

 MR.  PRESTON:

         What are they?  Have you mentioned them?  Have I

 missed something?  You said there are other alternatives?

 HEARING OFFICER:

         Nearshore discharges  to surface waters  and —  .

         Ron,  do you have any  help on  that?

 MR.  MIKULAK:

         Specifically,  the  intermittent  discharge to nearshore

 surface waters, which  hasn't yet  been addressed  by DER,  and

 the wasteload allocation  process  may be an  opportunity  that 	

 HEARING OFFICER:

        I might remark one  other  thing  on this whole area  of

wet weather discharge in the area, particularly  east of  Lake

Tarpon.

        This  area's  also a low  lying area.  It's one that has a

number of wetlands.   It's one that is  an environmentally sens itivle

area, and 1 think the point here is that in the development of
JP-11.        Potential back-up alternatives Include deep well injection  (if
         proven feasible), intermittent surface water discharges  (pending
         the availability of wasteload allocations) or the discharge of
         wastewater via a Gulf outfall.

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chat area and the provision of wastewater facilities,  I  think



It is a Local Issue and a local problem of coming up with the



options and the approach to deal with that area  If the local



government wishes to develop that area.



MR. PRESTON:



        Well, It's a disappointment that after -- what Is It  -



eight years of study, I think If not the most environmentally



sensitive area, it's certainly among the most environmentally



sensitive areas, and we're going to be faced, I  gather,  with



having a lot of effluent, and we don't know what to do with



It, and you people have studied it for eight years. It's not,



in my opinion, a commendable conclusion, recognizing again



the depth of your study and the things that you've done.



        However, It seems that my investigation  reveals  that



ten years ago that we could've come to the same  conclusion



with respect to Eastlake if not with respect to  the rest of



the north Pine lias area.



        So it just seems -- and because of Eastlake, you can



appreciate my concern -- a very insensitive approach.  There's



nothing 	 You're saying you're going to create it, and



you're going to have to do something with it.



HEARING OFFICER:



        What I'm saying, too, Is also that for the provision



of wastewater facilities and for development, the local  govern



ment has permitting responsibilities, the state  has permitting

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responsibilities, and those permitting responsibilities are
designed to protect environmentally sensitive areas and to
approve or disapprove for the  provision  of wastewater  facil-
ities, and I am not in  the position here to  be challenging
the authorities or the  abilities  of  the  local and  state
governments to meet that challenge.
MR. PRESTON:
        Well, I understand that with  respect to  the grants—-
I'm not going to  say  I  understand.  It seems to  me that some
place  in this consideration  that  there Is room for federal
grant  assistance,  if  not specifically for Eastlake, for the
north  Pine lias situation, and  as  I described earlier,  it's  not
only Eastlake that we're  talking  about.   The problem  -- and I
do recognize  that you are  looking forward to further  action,
I believe, with the Oldsmar,  Dunedln, and Clearwater  problem
with respect  to wastewater  --  management of wastewater .treat-
ment plants.  Is  that right?  I  Just  want to be  fair  to you.
HEARING OFFICER:
        I  think at this point  in time we don't anticipate any-
thing  until we may have some wasteload allocations in 	
MR.  PRESTON:
         I  understand  that,  but that's why I Included  future
development,  and  that's a year away, and with the development
 Impact that we  expect Immediately, your  problem is going to be
 Increased  at  least 15 or 207. within the  next year. And after
JP-12.
    Conclusions and any grant assistance can not be made until
wasteload allocations are available.

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eight years' study, you can understand our concern about the



lack of action  In  preparing for a  problem of this tyoe.



        Finally, one good size body of water is a considera-



tion, Lake Tarpon.  There's no way in my opinion, and I've



been here for ten  years, that unless something is done with



the effluent that  Lake Tarpon is going to suffer pollution,



and whether that's a concern of yours, I'm not sure.  You



already said that's a local action.



        But again, this study has been conducted, and my



feeling is that  it really hasn't in eight years produced any-



thing of consequence, anything of benefit to the citizens of



this particular  part of the community.



HEARING OFFICER:



        Thank you, Mr. Preston.



        I think  I  might remark about this, that anytime we



come to the conclusion that we're not going to be providing



facilities or trying to promote or trying to support or even



to solve the problems for future development, we have the same



kind of issue and  the same kind of concern, and I think that



is the way that the 201 program and federal funding for waste-



water facilities is going, and that is the Intent and desire



at this time of Congress, and this is not the same kind of



construction grants program that we had, say, five or ten years



ago.



        Our next speaker is Dr.  Robert J. --
JP-13.
            Comment noted.

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                                                                   37
 DR. KUESTER:
         Kuester.
 HEARING OFFICER:
         -- Kuester.  Thank you very much.
 DR. KUESTER:
         My name is Dr. Robert Kuester.  I'm from Dunedin,
 Florida.  I've been civically active with the EIS program  for
 practically since the time they came out, and I would  like  to
 take this opportunity to welcome you to the Suncoast.
         We may be severe with you, but we also do It with  the
 purpose, the same purpose, I'm sure, the reason you're here.
 I am, now that I've welcomed you, I'm going to proceed to  lay
 you out.  All right.
         I'm rather disturbed that there are no elected offi-
 cials here defensing the problem through the community.  I
 don't know where they are, but they weren't here five years
 ago during the Carter times when this EIS  came about, and they
 aren't here again, so apparently somebody  in this county
 doesn't care about this  water problem or isn't courageous to
 be  a  representative  for  us.
         I'm also a little  bit disturbed at the lack of publi-
 city  that  you people have  put forth.   I don't know what your
 publicity  program is,  but  when you're  speaking to a bunch of
empty  seats  on probably  one  of the  most important issues ever
 to  come  before  the Suncoast,  it bothers me,  sir.
RK-l.         Over 400 copies of the Draft EIS and announcement of the
         Public Hearing were sent out.  Legal notices of the public hearing
         were published In local papers twice.

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         I would like to see you go out and make another public

 approach to a meeting and have one more meeting here  and let

 some  people come out here and hear what's going on, because

 not only are you developing a program, you have to educate  the

 public,  and If you don't educate the public to support  you,

 you're not going to have any support.  You've got to  have

 support, don't you?  And if you're going to play to empty

 seats, you're not going to get that kind of support.

         I asked you five years ago, In my environmental  con-

 cerns In Orlando, and I ask you now to please stop thinking

 In terms of turning one of Florida's most valuable assets,

 the Gulf of Mexico, Into the world's largest swill pond, all

 rIght ?

         Number one, we don't need to contaminate the  environ-

 ment  from the Environmental Protection Agency.  I suggested

 then  that you might be re-named the Environmental Destruction

Agency,  and here you are again doing the same thing.  I  object

 to It, and  I'll tell you why In a minute.

         Your newest EIS about north Pinellas County Is a very

 Incomplete  document, even from a rank amateur in environmental

 problems.   It Is not the kind of document that should act as a

nucleus  or  basis from which to determine wastewater management

 Into the  next century.

        The  concluslonary research facts are glaringly absent,

being substituted  by guesses and surmises and postulatlons and
HK-2.         The EIS process ta Intended to both educate and Involve the
        community in local wastewater management decisions.  This effort
        culminates In the Issuance of the Draft EIS for review and comment.
        The purpose of the Public Hearing is to receive comments on the
        Draft EIS.
RK-3.
             Comment noted.

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  theories, maybes, would've's,  could've's, should've's.  I
  mean, we need some facts here  that will give us long-range
  conclusions that will be publicly  acceptable.
          I grieve when I talk to a  municipal  engineer who
  looks at this Environmental Impact Statement and  says it's an
 atrocious document.  I feel badly  that  more  intense  research
  is not or has not been done up to  this  point.
          I could  go through this whole book,  but I want  to
 give  you Just one or  two little items of what I'm talking
 about, and  I'll  be glad  to meet with you at  greater  length.
          Take  this one.   Wide-ranging and absolute conclusions
 cannot be made about  effects  of nearshore hydrodynamics on
 potential movement  of a  wastewater  plume.
         You're going  to  put the water out in the Gulf of
 Mexico and you don't  know where it's  going, and  you're telling
 me that's what you've got cost  basis  on?  I can't  buy It, sir.
 You're going to have  to  tell me more  about what's  happening,
 what's happening hydrodynamlcally out there,  or  you're not
 going  to go out there.
         One other ---I could go for  hours  on this.   We  talked
about  —- You talked about things here that you admit to.   Data
 from less than ten days  during only one spring and one full
season was available;  three sampling  transects are ten miles
apart  on  the  north side  of our axis; dye releases were not
monitored during  all types  of  wind conditions; nearshore water
RK-4.         The costs are based on a large number of factors Including:
         level of treatment, outfall size, length of outfall, construction
         technique (burled or unburled), etc.  The cost factois can be
         developed to setvc as a basis of comparison in order to compare the
         Gulf outfall alternative with other disposal alternatives.

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movements have been  measured  by metered data and  have been

found to be  highly variable;  variable  conditions  are evident -j-

so  on and so on.

         How  can you  do anything about  a Gulf outfall when you

talk about the preponderance  of limitations and  dangers  but

not  positive proven  facts  that  lead  to proper  conclusions?

You can't do that to us.

         Now, if ever there was  an  ideal time,  a  point  in time

in  history for you to come to the  Suncoast, I  think you've

picked it.   I think  you really  nailed  it right on the head.

         Right now the Suncoast  quality of  life is eroding for

lack of water during the present drought that  is  absolutely

probably the worst one we've  had this  century, not necessarily

the  worst drought but the  worst to make people suffer because

we've got so many people here now, you see.

         Now, you simply cannot  afford  the  luxury of dumping

reusable wastewater  into the  Gulf  until such a time you  can

prove the hydrodynamic and economic  feasibility  and until we

can come up  with a new water  supply.   We cannot  afford  to

waste water  that is  reusable  in anything, especially since

we're short  of water now.  Does it make sense, or am I  talk-

ing on something, you know,  I'm way  out in  left  field  on?

HEARING OFFICER:

         I'm  very glad that you're  supporting our conclusions.

DR.  KUESTER:
RK-5.          A marine sampling and measurement  program off Northern
         Plnellas County (Florida) was conducted to provide baseline
         information  for the assessment of environmental impacts  from n
         proposed offshore sewage outfall (one of  the alternatives being
         considered for handling the wastewater  of North Plnellas County).

              The program collected physical,  meteorological,  chemical,
         biological and sediment data from a 512 square kilometer Study Area
         in the Gulf  of Mexico from Anclote Key  (ncprth) to Belleair Causeway
         (south) and  up to 16 kilometers offshore  from the barrier Islands
         off Northern Pinellas County.  Specifically, physical studies
         Included description of bathymetry and  bottom habitnta,  and the
         measurement  of currents (speed and direction) in llie  StuJy Area.
         Meteorological measurements Included  wind speed and direction, air
         and surface  water temperature, and cloud  cover.  Chemical studies
         Included the measurement of dissolved oxygen, salinity,
         temperature, biochemical oxygen demand  (BOD2Q), total suspended
         solids (TSS), and mlcronutrients (nitrogen and phosphorus).
         Biological studies Included the genernl biological characterization
         of habitats, a description of rare, threatened and endangered
         species, fecal and total collform bacteria, chlorophyll  'a1 and
         phytoplankton, zooplankton, benthlc fauna and a description of the
         four artificial reefs In the Study Area.  Sediment atuJli/s Included
         the description of granulometry (grain  size distribution) and
         volatile organic content.  Depth profile measurements were made for
         chemical and current studies.  Data were  collected from  three
         east-west transects within the Study  Area (except for the
         artificial reefs study and the current  study, whure two  additional
         transects were sampled).
              Data from the sampling program can he utilized to describe the
         local Gulf environment and to make prcllminaiy conditions
         concerning a Gulf outfall.  The study limitations need to be
         clearly understood In order ro properly use the data  generated by
         the sampling program.
              The E1S also points out that additional site specific studies
         concerning outfall alignments, and point  of discharge and that
         additional permit/administrative reviews and approvals would be
         needed if a  Gulf outfall alternative  would receive further
         consideration.  Any additional efforts  would then supplement the
         EIS sampling program and would likely address the EIS study
         limitations.
RK-6.         The EIS  identifies the wastewater reuse alternative  as the
          environmentally preferred alternative.

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         The conclusion here la wrong.  Now,  you've still got

 this Gulf outfall here as a backup outfall,  and  I suspect

 that's where  It's all going to go eventually,  because five

 years ago you fellows had everything going  Into  the Honeymoon

 Island outfall  from Tarpon, Oldsmar, Safety  Harbor, Clearwater

 and It looks  like that's going to be a backup  once again,

 right?

         And the  present drought has proven beyond a doubt

 that Florida's wells  and aquifers cannot be  depended upon to

 provide all the  needed water In the future,  especially since

 potable water requirements  are constantly Increasing because

 of rapid growth  of  the area, and, sir, I appreciate you;

 putting down here  that you  are going to do something here

 that removes development constraints.  My god, please take

 a  walk around or  ride  around Pinellas County.  We've already

 become a  stuffed sardine  can with development.

        We've got all  these comprehensive land use  plans, and

 all  they  do Is juggle  them  around and do anything  they  wanted

 to,  and they rape our  environment,  they clutter us  with roads,

 they clutter us with these  sewage problems,  they constantly

 go  forever  without conclusion,  satisfactory  conclusions.

         I recommend, sir, that  you  help us develop  new  water

 supplies.   That's number  one.   If we  don't have new  water,

we're  not going to have anything  to  dump.  I mean,  the  present

aquifers and  well systems are  inadequate, all right,  so  help
                                                                                   RK-7.         Potential wet weather back-ups Include deep well injection,
                                                                                            Intermittent surface water discharges or a Gulf outfall.  Numerous
                                                                                            factors including technical feasibility, Institutional constraints,
                                                                                            water quality Impacts, and cost will determine the moat appropriate
                                                                                            back-up alternative.  A reuse alternative would not necessarily
                                                                                            utilize a Gulf outfall as a back-up discharge method.
RK-8.
    Potential disadvantages and advantages of all alternatives
are recognlred In the Draft EIS.
RK-9.
             EPA has no  program and no authority directed toward the
         development of new water supplies.

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us develop new water supplies  Co meet human  needs, and  then

In the  Interim I want you  to do everything you  can to conserve'

every drop of wastewater,  at least  until such time an abun-    j

dance of  potable water  supply  has been developed.              '

        Accordingly, I  sincerely request that you stop  all     i
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wastewater dumping  Into the Gulf of Mexico under any and  all

circumstances, and  I'll  be glad to  answer any questions.

        There  Is one thing here.  The gentleman asked a ques-

tion about what the other  alternatives were.  Well, you and

1 know we do have limited  alternatives, but  that doesn't  mean

we can't expand them, and  the  alternatives are  recharging

groundwater areas and recharging wetlands, which we haven't

even touched yet, and recharging flood plains.

        And I want  to thank you again for taking my recommenda

tlon to start recharging wells, but don't forget to purify

the water before you put It in there, because it's not  going

to leach out, all right?

        Thank you.

HEARING OFFICER:

        Thank you, Mr. Kuester.

        Again, I want to say that EPA fully supports the

comments that Dr. Kuester  has  made, that our conclusions  are

that yes, indeed, this  is  an area where wastewater reuse  and

conservation are very important issues, and I,  too, am  dis-

appointed that we don't  have more of a turnout.  I appreciate
                                                                                      RK-IO.
                                                                                                   Current-ly, wastewater  is not being dloclinrged Into the Gulf  of
                                                                                               Mexico off of  the coast of  Florida.
                                                                                      RK-11.
                                                                                                   Comment noted.

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  your  comments.
          I  have another maybe.  Mr. Todd Tanberg, do you wish
  to make  any comments?
  MR. TANBERG:
          Maybe after.  Let me hold my comments.
  HEARING  OFFICER :
          Maybe later.  I have another maybe, Mary James.
  MS. JAMES:
          I have no comment at this time.  I'd like you to keep
  on.  I wish you'd get the county commission out here.
 HEARING OFFICER :
         Would  you like for me to come back  to you at  the  end,
 or	
 MS. JAMES:
         No. That's  all right.
 HEARING OFFICER:
        Mr. Robert Williams?  I might make one other comment
while  you're coming  up, and that  is EPA does not have any
authority to develop water supplies.  We have no program that's
 involved  in developing water supplies, although for the area
 it sounds like it might be a very good idea.
DR. KUESTER:
        Time to start.
HEARING OFFICER:
        Mr. Williams?
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 MR.  WILLIAMS:
         Mr. Chairman, Mr. Mikulak, Mr. Bramlett —-
         My name  is  Robert L. Williams, and I'm a PE but not
 appearing  in  that capacity.  I am president of the Northeast
 Pinellas County Water/Sewer Authority.  Unofficially I repre-
 sent the mayor of Oldsmar, who happens to be my wife, and I
 want to  apologize for her.  She has to preside over the City
 Council  tonight and could not be here nor could any of the
 elected  officials be here because of shirking their regular
 duties,  so that's one of the reasons I'm here.
         Just a little bit of background.  I am perhaps one of
 the  most intensely  interested participants in the entire
 original 201 study.  I was mayor of Oldsmar at that time and
 one  of the four major participants.
         I was very happy to see that in your EIS  you use the
 logical  engineering conclusions from the 201 and  not that
aborted  last-minute attempt to change it.
        Oldsmar's interest is perhaps more intense than any
other people in this room.  We're in the area that's growing
fast, and we are involved in both,  I believe  you  call your
Tampa Bay area and your Eastlake  area,  and no matter what one
says, you can no more stop the  development in that  area than
the guy who is holding back the tide in the old fairy story.
         I have to agree with Mr.  Preston on the needs in that
area and that they are here now, and  if  we  can get  funded for

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 Che  1990  Level, we will be  happy,  because by  chat  time  Ic's



 going  Co  be  so  far out of these  projections.  Now, as 1  said,



 I'm  Intimately  familiar with  the 201.   I know what the  projec-



 tions  were based  on.



        We engineers at that  time  knew  that they were far



 below  what we knew were going to be there as  local people, but



 I agree that that's the rules, and in order for the study to



 be representative of the entire area, everyone used those rule:



        The  Oldsmar plant was built and approved back in Che



 early  sevencies as a regional advanced water  treatment  plant.



 It was built on the bay because AWT was to be discharged into



 the bay.  We were misled.   That  plant was designed and  partial



 ly built  with a capacity of 12 million gallons a day.  AC Chat



 time of the study, we were  1 million gallons a day.  We were



 not AWT,  but we do treat our water, and I think Mr. Bramlett



 can testify to this, at far higher levels than our permit



 requires and would continue to do so regardless of our size.



        Our plant was built with no federal funds.  Everybody



else In the area has federal funds in their plant.  Our poor



 people are having to pay for it, and I was bitterly disappointed



when the 201 study was derailed, but we do need federal funds



 in order  Co be cost effective with our neighbors.



        I'm glad chat you recognize Che difficulties  In Che



Eastlake area, and Eastlake just comes right on down to us.   I



don't know exactly where you draw the line between Eastlake  and

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Tampa Bay, but we do need some workable answers to that area,

and we need them now.

        Again, I might say -- someone said earlier — Mr.

Preston recognized that we are up against the wall right now.

It's growing faster than we had anticipated and having no

federal funds, the town having no money until it did grow, we

couldn't prepare in advance, although we knew full well, and I

worked hard on this for three and a half years while I was

mayor, and I could get nowhere except our own little things

that we could do.  We dug our ponds a little bigger.  We built

our berms and things like that in order to try to do what we

could to hold back the tide that was coming, but we have no

places to put our water now.

        We have considered various alternatives.  We agreed

with the 201 study that the land reuse was the most desirable,

still is the most desirable.  We don't want to put our water

in the bay even accidentally.  We want to reuse it.  The area

to the north of us is the only place that's viable for reuse.

Our groundwater table is only about 3 feet, maybe 4 at the mos

below the surface which doesn't give us much room for percola-

tion.

        We do have ponds, 16 acres of ponds, where we can store

some water.  We would hope to be able to pump that out into

that East lake area, spread it out, and make some use of  it, at

the same time serving our purpose.
co-i.
            Comment noted.

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        We don't really want  to  take  the nitrogen and  phospho-




rous out  of  It either, because that's what makes things  grow.




We have  people all  over our area,  Including  my  own wife,  that'js




asked me  why can't  I have some of  that water; we'll reuse  it.




        Our  ordinances and our subdivision development regula-




tions, and Bill, you might correct me if I'm wrong. I believe




they now  include requirements for a gray water  distribution




system in new subdivisions, looking toward this reuse  of water




        We have the problem, as  I said, immediately, though,




and again we don't want to send  it to the bay, although we are




interested as a, shall we say, a near-term solution.  We had



hoped that we could get some  type  of wasteload  out of  that




Tampa Bay study, but I don't know whether that's going to come




in time to help us  or not, and I don'-t know  that we are still




in the study even.  I might ask  that question if Mr. Bramlett




knows.  I have heard rumors that Oldsmar was just out of it.




MR. BRAMLETT:




        That you're out of the study  for Tampa Bay, out  of the



allocation study?




MR. WILLIAMS:




        Out of the  possibility of receiving  	



MR. BRAMLETT:



        I'm not aware of that.  There's a draft allocation out




which calls for no discharge, but that's not the final document




As I said before, the final document should  be out in July or
co-2.
            See Mr. Bramlett's responses on page:; 60-61.

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                                                                    48
August  of  this  year.

MR. WILLIAMS:

         Is  there  anything that would make us think that  final

document might  be different?

MR. BRAMLETT:

        No,  sir,  not  to my knowledge.

MR. WILLIAMS:

        That's  what I was afraid of.  So that's not an answer.

We have  to  have a different answer.  We are working with the

developers  in  this area.  As I said, they're coming Just like

the tide comes.  They are being very cooperative.  They  have

asked us what  they need to do to help us.

        We  are  attempting to work something with them, but  our

hands are  tied  unless the wetlands and the general distribution

of water in the sensitive area is brought on line, and that's

our major concern right now.

        We  don't  want to discharge it, spray irrigation,  200

feet from  the bay. 250, I believe, is the minimum.  We  don't

want to put  it  there.  We want to put it further upstream.  If

it ever does get  to the bay, and to my knowledge nobody  has

ever made a  study and showed that we have ever polluted  the bay

at that point,  and we'd like to return to the land, and  I don't

see anything in the EIS study that encourages that there  might

be some further interest on the part of the federal government

in that area.   I  wish there were, and I would hope that  perhaps
co-3.
    See Mr. Bratnlett's response on this page.
CO-4.
    Both land application and reuse alternatives are considered In
the EIS, with the wastewater reuse alternative being Identified as
the environmentally preferred alternative.

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                                                                49
 you could carry that back, because I think this is a legitimate

 concern both to us locally and to the federal government from

 the standpoint that there are a lot of people, there are in-

 dustries and there are business concerns there.

         We don't have enough money to just stay around and wait

 for the solution of some of these things.   We need some solu-

 tions now.  We have obligated ourselves  to a  bond issue to

 complete some of the structures in our plant,  to rehabilitate

 some of the structures in our plant and  to provide some pro-

 visions for effluent.   We'd like'to see  that  effluent  go north

 in  a permanent way rather than just spraying  it willy-nilly.

         Land for doing this is not  really  available.   If it  is,

 it's at a  premium,  which the  city can't  afford,  so again this

 comes  back to the  federal government's concern with  people who

 are  poor and can't  afford things.   1  think we'll qualify.

         There  is a  possibility of cooperation with large  land

 owners  north of  the  town  in the Eastlake area,  and finally I

 might  say,  go  on record,  it's  my opinion that  the  solution to

 this  is  none of  the above.  The solution is building a water

 treatment  plant right  next  to  our sewage treatment plant and

 reusing  the water.  We have the land for it, and we'd  like to

 have the funds for  it.

        Thank you.

HEARING OFFICER:

        Thank you, Mr. Williams.
                                                                                    CO-5.
                                                                                                 Comment noted.

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        Another  thing  I  might  remark on regarding this rela-

tionship between water supply  and  wastewater disposal, some of

the information  that we  received regarding this area and the

use of water supply  indicates  that somewhere between a quarter

and a third or maybe as  much as 407. of the water usage In this

area is related  to watering  of grass and outdoor use of water,

which is non-potable uses  of water, and this is one large area

with wastewater  reuse  that potentially could be tapped.

        I am now back  to the first maybe.   Don McCullers, did

you want to say  something?

MR. MCCULLERS:

        I have some comments I'd like to make and also ask a

couple questions if I  possibly can.

HEARING OFFICER:

        You may  ask them.  I'm not sure we can answer them.

MR. MCCULLERS:

        Okay.  That's  fine.  I'd like to ask them anyway.  You

said that the wasteload  allocation of upper Tampa Bay would be

completed sometime this  summer.  I'd like  to know If your de-

partment will hold back  on your final draft of the EIS until

that wasteload allocation  is approved.

HEARING OFFICER:

        All I can say  is we're going to close the comment

period on June 25th.   We intend to go ahead and finalize the

EIS.  If the state is  particularly interested in its services
CO-6.         EPA Intends to finalize the EIS.  If needed,  the HIS will be
        supplemented when wasteload allocations for Finellas County surface
        waters are available.

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to  us  to maybe consider  some  other  option, we may consider that.



We  have been keeping  this EIS  open  for quite a  long  time.  We



have a contractor  that we've  been dealing with, that we've been



keeping on  for quite  a long time, and for our own reasons and



our own needs, we  would  like  to move on to complete  this EIS.



        We  would be in a position,  when we do have wasteload



allocations, we have  a position where we can make some  final



conclusions, that  we  would be  moving to make those conclusions



        So  that's  about all I  can say on that.



MR. MCCULLERS:



        One of my  concerns is  the area east of Lake  Tarpon, am



there appears to be quite a few concerns of the audience to-



night.  It's one of the most environmentally sensitive  lands




that Pine lias County  has left.



        Yet, in the draft EIS, and maybe this is a good time fo



somebody to stand  up  and go against possibly their own  policy,



in the draft EIS it says you would not recommend any funding



of  the EPA monies  to  the area east of Lake Tarpon and made the



comment tonight that  the only way anybody could get any funding



from EPA, which seems to hold  true, is that you have to have



a problem.



        I'd like to kind of try to see that role reversed so tha



we could take care of the problems before we present the prob-



lems .  Maybe that would be a good time to have -- to recommend



to EPA that you fund  some of these areas.  Reuse, without a

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doubt, you're  going to have to get Into a reusettype  situation

Like quite a few  people have stated tonight, you've got,  you

know, one  of the  worst dry spells that we've been  through In

a few years In this area.

      Go  Into  the possibility of spray irrigation  on  the  land.

Go --- Think of the possibility of recharging  Cypress Head so

that our  forestry people here don't have to go out and  fight

the fires, that if you had some of this water  there available,

you would  not  have half these problems, but at the same time

why not get EPA's Involvement in your most envircnmentally

sensitive  lands before you have a problem, so  that the  environ-

mentally  preferred alternatives, which is what everything Is

about in  this  study,  can be enacted before you have to  come

back and  correct  the problems at a higher cost.  Then you coulc

go in and  you  could do a very sufficient job of doing now.

      I think  that the role on that should actually be  reversed

a little  bit.   Why don't you stop the problem  before  you  create

a problem.

HEARING OFFICER:

      I might  ask, I've been hearing this all  along,  that

there's going  to  be a big problem, and I might just ask,  we

have local ordinances and requirements regarding the  use  of

on-lot systems.  We have permitting responsibilities  from the

State of  Florida  on surface water discharges,  and  It  is not

clear to  me what  kind of a problem It Is that  we're really
co_7.         The Clean Water Act and EPA Construction Grants Regulations
         are specific in that EPA grant funds are available to assist
         municipalities in correcting existing water quality and public
         health problems.  Wastewater flows existing at the time of Step 3
         grant (construction) award, but not to exceed the year 1990 flows
         are eligible for EPA funding.

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                                                                    53
 talking about  in  the  future  for  this area,  and  maybe  I  Just



 don't understand.



 MR. MCCULLERS:




       Well, Mr. Bisterfeld  when he first started  this  whole



 study, he did not either until one day we took  him to the



 area, and he says Wow, is that the area  that  I  looked at a



 year and a half ago?  You know, the rapid growth of all of



 Pinellas County as well as Florida is so tremendous that what



 Mr. Williams got through saying, I do not perceive far down



 the road.   You're going to treat wastewater here.  You're goln



 to have  to recycle it back out through a public plant.  I



 mean,  the  times are coming.



       There is  technology that can be done for that.  In




 reality  it's  been done for  years, and the public is Just not



 aware  about it.



       The  reuse estimates for the spray irrigation, are  those



 updated  costs or are  these  still  the  1980 figures?



 HEARING  OFFICER:



       (Nods head affirmatively)



 MR. MCCULLERS:




      They're the  1980 figures?  The  package  plants —



MR. MIKULAK:




      Don,  if I might  inject  something.  All  costs  that  we



discuss  in the EIS at  this tine are the  1980  figures and have



not been updated —
CO-8.
             Comment noted.
CO-9.
            The costs presented for spray irrigation are 1980 costs.

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MR. MCCULLERS:



      I thought they were.



MR. MIKULAK:



      -- updated at all.



MR. MCCULLERS:



      I've seen that some of the flows and some of the other



numbers In the study had been,  It appeared to me, that they



had been adjusted.



MR. MIKULAK:



      The flows have been corrected, but to go back and re-



adjust all the costs of the alternatives did not seem to be a



cost-effective activity involved, but the costs are still



internally consistent; that is, when you compare the cost of



one alternative to another and  try to .rank them, they're still



internally consistent, but they are still 1980 dollars.



MR. MCCULLERS:



      There's one statement in here, and maybe I'd like to



speak to Mr. Bramlett about this if I could possibly, is —



And I'm not out to throw any stones at anybody.  I want every-



body to be understanding of that.



      The Clearwater Northeast  plant, will that be allowed to



discharge their effluent from that plant through the Clearwater



East plant, or is that considered a new discharge?



MR. BRAMLETT:



      Will be allowed to discharge if the allocation allows the
                                                                                CO-10.
                                                                                            See Mr. Bramlett's response nil pn^ef d/-lill.

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 discharge,  you mean?
 MR. MCCULLERS:
       The way  it's  presently  operating,  yes,  sir.
 MR. BRAMLETT:
       If the allocation  gives  them a  discharge,  I'm assuming
 that it would.
 MR. MCCULLERS:                                                 i
       Would that constitute --
 MR. BRAMLETT:
       I don't know --
 MR. MCCULLERS:
       --in your office --
 MR. BRAMLETT:
       --  for a fact, though.
 MR. MCCULLERS :
       --  a  new discharge?  Although you've got one treatment
 plant  to  the south,  you've got a treatment plant  to the north,
 you've created  a new treatment plant  to the north after certain
 rules and regulations  were in  effect.
 MR.  BRAMLETT:
      Right.
MR. MCCULLERS:
      Will that  now be considered a new discharge through  the
Clearwater East  plant  on  the Courtney-Campbell Causeway?
MR. BRAMLETT:
                                                                                    CO-U.
                                                                                                Sec Mr. Bramlett's response on pages fiB-69.

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        I don't think I can answer  that.   I don't  know the

 answer.  I can find out for you.

 MR. MCCULLERS:

        Can you find  out for me, please?

 MR. BRAMLETT:

        Yes.

 MR. MCCULLERS:

        I've been trying to get that answer for sonetijne, and I

 cannot.   I would like  to  know that.

        I would still  like  to express my  opinion.  I  think that

 the track of  effluent  reuse is the only way that you have to

 go  that has to be wet-weather back-up alternatives.   Everybody

 has proven that.   I mean,  it's a growing way, with  the  rapid

 people and  the amount  of  people that's  moving into  the  State

 of  Florida everyday, particularly to Pine lias County  and the

 Tampa  Bay area,  I'D kind  of disappointed  that the EIS,  and

 this has been  quite a concern in  the past,  it does not  include

 more  than just  Pine lias County.   I think  it  should Include

 the whole Tampa Bay nucleus area,  from Oldsmar to Tampa  to

 Safety Harbor,  Palm Harbor, and Clearwater.   I think  the

whole  thing should  be considered,  but I would  really  like to

 see the wording in  the drafted EIS  change so that EPA is

recommending to EPA  that they do  fund  the areas east of Lake

Tarpon, so that the  environmentally  preferred  alternatives

can be  initiated.
CO-I2.
              Conment noted.
CO-13.        The EIS covers the entire North Plnellas County 201  Study Area.
         and  the Clearwater and Safety Harbor portions of the Central
         Pinellas County 201 Study Area.
CO-14.        The environmentally preferred alternative  is for thp most part
         now being Implemented In the  area east of Lake  Tarpon by several
         existing facilities.  Tills practice can and will likely continue
         without EPA  funding.  In addition to the eligibility limitations of
         future facilities,  EPA policy and regulations also address funding
         in environmentally  sensitive  ateas.  The area east of Lake Tarpon
         is comprised of roughly 30 percent ot wetlands  and floodplains.
         County wellflelds and groundwater recharge areas are also located
         here.  The presence of these  environmentally sensitive feature?
         further limits F.PA's participation in funding wastewater facilities.

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CO-16
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PCSS-1
                                                                               57
       Wastewater reuse is very costly; once  It's implemented,

 it's probably  the greatest  thing that there  is.  It is very,

 very costly.   The figures on  the flows have  been updated.

 The costs on the installation of these systems  have not been

 updated.  I think that's very misleading.

       I think  it's also misleading to try  to finalize this

 statement seeing as how we  	 Everybody has put so much

 effort into this over the past few years that we're so close

 now to possibly  having a wasteload allocation in the bay, you

 cannot make any  determined  findings on this  document here

 until  the Department of Environmental Regulation completes

 the wasteload allocation study  of Tampa Bay.

       Thank you.

 HEARING  OFFICER:

       Thank you,  Don.

       Mr.  Tanberg,  do you now wish to make any  comments?

 MR.  TANBERG:

       My  name is  Todd Tanberg.   I'm the  director  of the  Pinel-

 las  County Sewer  Department.

       As  we  understood  the  purpose  of the EIS as  originally

 stated some  six-odd  years ago, was  for the purpose  of  confirm-

 ing the recommendations  of  the north  Pine lias 201 facilities

 planning  study.

       That final  recommendation,  of course, was for  water  reuse

spray  irrigation  if  you will,  with  a  back-up method  of effluent
CO-IS.        The costs are still internally consistent, that Is, when  you
         compare the cost of one alternative to another and try  to rank
         them, they are still  Internally consistent.


CO-16.        As Indicated by  Mr. Bramlett, the Tampa Bay wasteland alloca-
         tion is expected to be available sometime later in 1985 and the
         Clearwater Harbor - St. Joseph Sound wastelond allocation will not
         be available at least until  the middle of 1986.  Oner there are ap-
         proved vasteload allocations, conclusions can be made for Lhe
         remaining subareas.   If necessary, an EIS supplement will he
         prepared Incorporating approved wasteload alloc.it ions.
PCSS-1.       The purpose of the EIS  is not  to confirm the 201 Plnn
         recommendations, but rather  to develop and evaluate  wastewater
         management alleiuallves leading to  the selection of  the most,  cost
         effective environmentally sound alternative.

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 disposal being Gulf  outfall.

         The EIS, draft EIS, as  we review it, In our opinion,

 does not fulfill the  purpose  of that original -- the original

 purpose of proceeding with  the  EIS.

         We are operators  of wastewater treatment facilities.

 We don't control growth.  However, we are scrambling to  pro-

 vide services for those who are coming Into the county to

 live.

         Eastlake Tarpon Is an area that is the most rapidly

 growing in the county, and this is where our attentions are

 being  focused today.  This area of the county is notable In

 the  EIS and by lack of being  addressed In detail In the

 document.   The county endorses  water  reuse,  and  we Intend to

 reuse  that treated effluent wherever  possible.

         However, we do need to  have defined  for  us that inter-

mittent discharge that we can use during wet weather.   Histor-

 ically, 50% of the county's rainfall  comes  In three or four

months  a year, summer months.    During those  months, we can't

force effluent out of the bay on the  people  who  use It  through-

out  the year.

        We  are experiencing right now  some severe  droughtcon-

ditions.  Everybody is screaming for  treated effluent;  we'd

 love to have  It.   Number  one,  there's  a  lot  of rain.  Golf

courses don't  want  any more than Mother  Nature gives them,  and

that's  our  problem.   In those  times we need  intermittent
PCSS-2        Wastewater management  alternatives for the  nrea east of l.,ike
        Tarpon are addressed  In the F.JS.  The No Federal Action alternative
        has been selected for this  portion of the Study  Area. Tho
        selection of the No Federal Action alternative slioujrt not be
        construed as being addressed In Insufficient detail.
PCSS-3.
             Comment noted.

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                                                                    59
discharge.
                                                               i

        We are enthusiastic  about other alternatives for dis-


posal of effluent.  Dr.  Kuester  mentioned  wetlands discharge  '

of effluent.  We have  looked into that. We have looked into


a number of other alternatives.   Unfortunately, we are being  ,

discouraged and frustrated by  the current  rules, regulations,

and policies of the state.                                     !
                                                               I
        We had hoped  that the  EIS would resolve some of these


types of issues.  We had no  approved  intermittent back-up

method of discharge after the  201 was  completed.


        Now, after the six-year  effort on  the EIS, we still

are left without an approved back-up method for effluent


disposal during those months of  the year when water reuse is

not practical.


        I think in conclusion  I'd just like to say that due to

the study, in our opinion, not fulfilling  the original intendec


purpose -- that is, to confirm the recommendations of the


north Pinellas 201 plan  -- Pinellas County will not be able to

endorse this EIS document.

        Thank you.

HEARING OFFICER:

        Thank you, Mr. Tanberg.


        I have to agree with,  I  think, most of the comments that


I'm hearing here, except for a couple  of them, and the only

reason I won't agree with them is that I can't agree with them,:

                                                                i
                                                                                PCSS-4.
                                                                                             Comment noted.
                                                                                 PCSS-5.       Tills type of alternative can not he  fully roiisldereil until
                                                                                         approved wastuload allocations are available.
PCSS-6.
             Comment noted.

-------
                                                                  60
 i


 2


 3


 4


 5


 6


 7


 a


 9


10


II


12


13


14


15


16


17


18


19


20


21


22


23


24


25
 because  I  am limited by  our  policy and  the directions of      •

 Congress.

         But  I would like  to  say  that what I've heard this even-

 Ing,  or  at least what  I believe  I've heard this evening, Is   j

 that  everyone who's spoken has endorsed the concept of re-

 cycling  and  reusing wastewater,  that there Is a direct re-
                                                              i
 latlonshlp and a link  In  this area between water supply and

 wastewater supplies and wastewater reuse, and that I thought

 I heard  everyone say that yes, this Is  the way that this par-

 ticular  Issue's been going.

         I  think, If you  look at  the conclusions In the ElS.you

 will  find  that that Is the heart of the EIS and the recommenda

 tlons that are contained  therein, and I'm very pleased that

 we're hearing support  for that conclusion.

         I  think also, regarding Mr. Tanberg's comments that we

 don't yet  have all the answers that we'd like to have, I think

we share, and I think the state shares some of that same

 disappointment as we are here today, that we don't have those

answers, and this is not a simple particular issue.  I think

 if it had been simple,  it would've been answered.

        We are hopeful that with the availability  of wasteload

allocations in the  very near future that we may  be able to

reach conclusions and  come to answers  regarding  the questions

that you had.

        With that,  I'll just ask if there's  anyone else  who

-------
    didn't register  to  speak  that maybe,  hearing all the dtscus-
                                                                   !
    sion and comments that've  been made,  if now they might like tot

    stand up and have a  few words.   Is  there anyone else who might!
     Like to  ---
10

ii

i?

13
15
18
20


21


22


23


24


25
      Yes,  sir.   Would you state your name and who you repre-

sent  if  you represent  anyone?

MR. BOYD:

      Mr. Mikulak,  Mr. Howard,  Mr.  Bramlett, my name is Alfred

Boyd.  I am very  familiar with  the  Eastlake area.  I had one

tract of land  out there,  and  my ownership was 6,000 acres.

My dad had  16,000 acres  in the  Eastlake area.

      We know  the situation quite well.  Now, I think that

perhaps  you gentlemen  working under the Environmental Protec-

tion Agency  are charged with  protecting our environment.

      I  would  like  to  ask you,  have you studied the source of

much  of  our  contamination in  Lake Tarpon?  Your maps — I

have not had a chance  to  study  this book; I just picked it up

this evening, but so far  I have not been able to find anything

that you have  Investigated across the  Hillsborough County line

      Today  Lake  Tarpon is  covered  with algae in much of the

area, which  is showing pollution.   It  may not yet be dangerous

to human habitants  of  the  area,  and yet it  can be.   That's  one

main point  I think  that you might have  missed.

      There  is a  drop  from  the  source  of Booker Creek which

flows into Lake Tarpon approximately 33 feet.   The  flow in  the
AB-l.        The E1S covers the entire North Pincllns County 201 Study Area
        and the Clenrwater and Safety Harbor portion of  the Centra)
        Plnellas County 201 Study Area.

-------
wet  season Is  tremendous.   All the effluent from the septic

 tanks  and  discharge from various sources are gfolng to flow

down Booker Creek and Into Lake Tarpon, out the outfall canal

 Into Old Tampa Bay.  That  cannot be disputed.

       The  Pine Has County  Commission has recently purchased    ,
                                                                i
considerable acreage In that area for environmental protection>
                                                                I
       Now,  I charge you men to Investigate our source of much

pollution  and  see If we can eliminate some of that through

cooperation with  Hlllsborough County.  We have been at war

more or less with the Hlllsborough County Commissioners over

the  possible pollution of  our water supply In the Eldrldge wll<

fields.

       Now,  Booker Creek flows very close to that water supply

that we are drinking everyday.  I think It behooves us to work

on protecting  our drinking water supply first and foremost.

       Thank you,  sir.

HEARING OFFICER:

       Thank you.

       Is there anyone else who, hearing these comments,  would

like to stand  up  and make  some additional comments?

       (No  response)

       I want to say I appreciate all the speakers standing up

and  talking with  us, and this public hearing record will retna Ir

open until  June 25th,  1985, and I would encourage anyone here

who would  like to,  to please provide your comments In writing.
AB-2.
    To date, there has not  been a documented problem with septic
tank effluent reaching Brooker Creek.  Treatment plants do nut
discharge treated effluent to Brooker Creek.
AB-3.
             Comment noted.

-------
9

10

]l

I?

13

14

15

16

17

18

19

30

21

22



24

25
                                                                  63
If you have any other comments that you'd like to make that
you either didn't think of here or come to you after this
meeting, please contact us with those comments by June 25th.
      All written comments received will be considered as
part of the record, and you should forward them to Mr. Mlkulak
His address Is on the bottom of your agenda, your handout,
that you have received.
      I want to thank you again for coming.  I really do ap-
preciate your coming.  Atlanta Is a long way from Clearwater,
 north PineUas area, and without your coming and talking to
us, it makes our job much more difficult.
      The final EIS that will be coming out in September will
consist of the agency's final decision , a summary of the draft
EIS, any pertinent additional information or evaluations that
are developed since the draft is published, revisions to the
draft, comments that were received on the draft and the EPA's
responses to those comments, and a transcript of this hearing.
      Those of you who commented here tonight will receive a
copy of the final EIS.  I'd also like to thank Pine lias County
for making these facilities available.  They're fine facilities
and we really do appreciate it.
      Again, thank you for your attendance, and this hearing
is adjourned.
                                (Whereupon, the above-entitled
      public hearing was concluded at 9:10 p.m.)
               CERTIFICATE OF REPORTER

This Is to certify that the attached proceedings before
THE UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
             PineUas County Courthouse
             Clearwater, Florida
             7:30 p.m.
             June 11, 1985
were held as herein appears and that this  is the
official transcript of  the  proceedings  for  the  file
of  the Agency.
                               ANNE JAPOUR
                               Certified Verbatim Reporter
                    BAY PARK RFPORTINC
                       C')U»I HEPOHTINC
                     II fuiUlH STUFfT NORTH
                    
-------
                           TABLE 4




INDEX TO WRITTEN COMMENTS ON NORTH PINELLAS COUNTY DRAFT EIS
Comment
Code
DER-1

TBRPC-1

TBRPC-2

TBRPC-3

TBRPC-4

TBRPC-5

TBRPC-6

TBRPC-7

TBRPC-8

TBRPC-9

PCSS-1
PCSS-2
PCSS-3
PCSS-4
PCSS-5
PCSS-6
Page(s)
83

85

86

86

86

86

87

87

87

87

88
88
88
88
88
88
Commentor
Florida Department of Environ-
mental Resources
Tampa Bay Regional Planning
Commission
Tampa Bay Regional Planning
Commission
Tampa Bay Regional Planning
Commission
Tampa Bay Regional Planning
Commission
Tampa Bay Regional Planning
Commission
Tampa Bay Regional Planning
Commission
Tampa Bay Regional Planning
Commission
Tampa Bay Regional Planning
Commission
Tampa Bay Regional Planning
Commission
Pine lias County Sewer System
Pinellas County Sewer System
Pinellas County Sewer System
Pinellas County Sewer System
Pinellas County Sewer System
Pinellas County Sewer System
Nature of Comment
Support reuse

Consistency with Council policies

Review of discharge to coastal waters

Review of discharge to Gulf

Review of deep well injection

Review of land application

Review of reuse

Expand reuse alternative

Support reuse with deepwell backup

Consideration of local comments

Accomplishment of EIS purposes
Accomplishment of EIS purposes
Area east of Lake Tarpon recommendations
Intermittent wet weather discharge
Ownership of small plants
EIS recommendations

-------
                      TABLE 4 (Cont'd.)




INDEX TO WRITTEN COMMENTS ON NORTH PINELLAS COUNTY DRAFT EIS
Comment
Code
CD-I
CD-2
CC-1
CC-2
CC-3
CC-4
CC-5
CC-6
CC-7
CC-8
CC-9
CC-10
CC-11
CC-1 2
CC-13

CC-1 4
CC-15
CC-16
CC-17
CC-1 8
CC-19
CC-20
CC-21

CC-2 2
CC-23
CC-24
Page(s)
89
89
90
90
90
90
91
91
91
91
91
91
91
91
92

92
92
92
92
92
92
92
93

93
93
93
Commentor
City of Dunedin
City of Dunedin
City of Clearwater
City of Clearwater
City of Clearwater
City of Clearwater
City of Clearwater
City of Clearwater
City of Clearwater
City of Clearwater
City of Clearwater
City of Clearwater
City of Clearwater
City of Clearwater
City of Clearwater

City of Clearwater
City of Clearwater
City of Clearwater
City of Clearwater
City of Clearwater
City of Clearwater
City of Clearwater
City of Clearwater

City of Clearwater
City of Clearwater
City of Clearwater
Nature of Comment
Support of alternative
Support of reuse
EIS recommendations
EIS emphasis
Funding of wasteload allocation studies
Delay Final EIS
Consideration of private treatment plants
Consideration of private treatment plants
Existing land application site
Connection/impact fees
Wasteload allocation process
Safety Harbor wastewater treatment plant
Wastewater disposal alternatives considered
Intermittent wet weather discharge
Support basis of wasteload allocation
studies
Safety Harbor wastewater treatment plant
Relevance of management findings
Land application design
Intermittent wet weather discharge
Description of treatment plant
Description of treatment plant
Land application operation
Screening of wastewater disposal
alternatives
Wastewater disposal alternatives considered
Outdated costs
User charge variance

-------
                                                 TABLE 4 (Cont'd.)

                           INDEX TO WRITTEN COMMENTS ON NORTH PINELLAS  COUNTY DRAFT EIS
Comment
Code
CC-25
CC-26
CC-27
CC-28
CC-29
CC-30
CC-31
CC-32
CC-33
CC-34
CC-35
CC-36
CC-37

CC-38

CC-39
CC-40
CC-41
CC-42

CC-43
NMFS-1
Page(s)
93
93
93
93
93
93
94
94
94
94
94
94
94

94

94
94
94
95

95
96
Commentor
City of Clearwater
City of Clearwater
City of Clearwater
City of Clearwater
City of Clearwater
City of Clearwater
City of Clearwater
City of Clearwater
City of Clearwater
City of Clearwater
City of Clearwater
City of Clearwater
City of Clearwater

City of Clearwater

City of Clearwater
City of Clearwater
City of Clearwater
City of Clearwater

City of Clearwater
National Marine Fisheries Service
Nature of Comment
Outdated costs
Gulf outfall impacts
Existing land application sites
Safety Harbor wastewater treatment plant
Outdated data
Outdated data
Gulf outfall effluent additional treatment
Outfall location
Degree of initial dilution
Coliform concentrations
Fundable alternative definition
Long-term reliable disposal option
Support of Gulf outfall as a reliable
alternative
Commitment to reuse with Gulf outfall
alternative
Growth controlling factors
Gulf outfall effluent quality
Gulf outfall effluent quality
Environmental sensitivity of Gulf outfall
route
Tampa Bay water quality
Preferred alternatives for wastewater
SFWMD-1
97
Southwest Florida Water Management
District
disposal

Confining layer definition

-------
                                                       TABLE  4  (Cont'd.)

                                  INDEX TO WRITTEN COMMENTS ON NORTH PINELLAS COUNTY DRAFT EIS
       Comment
        Code
               Page(s)
                     Commentor
                                        Nature of Comment
oo
o
       SFWMD-2

       SFWMD-3

       SFWMD-4

       SFWMD-5
USPHS-1
USPHS-2
USPHS-3

USPHS-4
       SOLID-1
       SOLID-2

       SGSC-1
       SGSC-2

       SGSC-3
       SGSC-4
       NOAA-1
                 97

                 97

                 98

                 98
 99
 99
 99

100
                101
                101

                102
                102

                102
                103
                105
Southwest Florida Water Management
District
Southwest Florida Water Management
District
Southwest Florida Water Management
District
Southwest Florida Water Management
District

United States Public Health Service
United States Public Health Service
United States Public Health Service

United States Public Health Service
              Save Our Lakes  Invite Discussion
              Save Our Lakes  Invite Discussion

              Suncoast Girl Scout Council
              Suncoast Girl Scout Council

              Suncoast Girl Scout Council
              Suncoast Girl Scout Council
              National Oceanic and Atmospheric
              Administration
                                                     Confining  layer definition

                                                     Status of  existing  injection facilities

                                                     Update of  existing  injection facilities

                                                     Deep well  injection monitoring costs
Lack of wasteload allocations
Environmental and public health impacts
Potential for adverse environmental and
public health impacts
Require studies and data to determine
impacts

Oppose Gulf outfall
Support reuse

Oppose Gulf outfall
Oppose Gulf outfall as a wet weather
disposal alternative
Support percolation ponds
Oppose Gulf outfall as a wet weather
disposal alternative

Movement of geodetic control survey monu-
ments

-------
                                                        TABLE  4  (Cont'd.)

                                  INDEX TO WRITTEN COMMENTS  ON NORTH PINELLAS COUNTY DRAFT EIS
       Comment
        Code
               Page(s)
                     Commentor
                                        Nature of Comment
oo
CO-1
CO-2
CO-3

DOI-1
DOI-2

DO I-3
DOI-4

DOI-5
DOI-6

DOH-1

DOH-2

DOH-3

DOH-A
       DNR-1
       DNR-2
106
107
107

109
109

109
109

109
109

111

112

112

112
                118
                118
City of Oldsmar
City of Oldsmar
City of Oldsmar

Department of the Interior
Department of the Interior

Department of the Interior
Department of the Interior

Department of the Interior
Department of the Interior

Department of Housing and
Urban Development
Department of Housing and
Urban Development
Department of Housing and
Urban Development
Department of Housing and
Urban Development

Department of Natural Resources
Department of Natural Resources
Population projections
Grants to correct existing problems
Wasteload allocation process

Mineral resource impacts
Support elimination of discharges into
estuaries
Support reuse
Support deep-well injection and spray
irrigation
Groundwater export impacts
Deep-well injection monitoring

Wasteload allocation process

Water conservation

Water conservation

Water conservation
                                                     EIS emphasis
                                                     Agency coordination

-------
SUMMARY OF GENERAL
    TABLE 5
TOPICS COVERED
             BY WRITTEN COMMENTS

'3P1CS
-3VESED
REJSE
'SRPC "O^iC"
DISPOSAL ALTERNATIVES
"UBL'.r °A9';C.°A'iON
EiS "URPOSES
EiS RE--3MMENDA';ONS
WEA'HER DISCHARGE
WA^E «*ER 'SEGMENT
"3NSI3ERED
E.S £1PHAS',S
WASTE -O.AO ALLOCA'iONS
E.S C31PLE".ON
PLANTS
..AND A°PLiCATiON
-iNANCIAc IMPACTS
SA'E'T HARBOR
'RE4T1E«(r PLANT
3UTDA'ED DA' A
OUTOA'ED COS'S
-J^- OUTFALL iMPAC'S
GJL.r OUT-ALL
AL'ERNA';/E -JND;NG
rA1PA 9A" WA'FR
SJALl"
DEE" WE^L ;NJEC'I3N.
D3PJL.A';3N "ROJEC'IONS
E=A -RAMTS
,1PA-'S
WA'^ C3NSFRVA-3N
SOURCE 3F COMMENTS
DEPARTMENT OF
FNVIRONMFNTAL RESOURCFS
;


























TAMPA BAY REGIONAL
PLANNING COUNCIL
8
i
2.3.*.
9























PiNELLAS COUNTY
SEWFR DEPARTMENT




1 .2
3.6
4
5



















CITY OF
DUNFDIN
2







1

















CITY OF
CLEARWATER
38




1
12. \7
i 8 . . 9
"«"
2
3.9. ,3
20
4
5,6
7 . ; 6 . 2
7
8.24
10. ,*•
28
,3.29.
30
23.25
26.3; .
33.34.
39.4Q.
4 I .42
32 . 36
35. 3T
43




1
u_
UJ O
— ^
0= K
•CU.
C u:
-1 W
< UJ
z —
OK
— Ui
•— X
< tr
U-





1




1
















SOUTHWEST FLORIDA
WATER MANAGEMENT
DISTRICT






















•,.2.3.




UNITED STATES
PUBLIC HEALTH SERVICE


















2. 3. '








SAVE OUR LAKE
INVITE DISCUSSION
2


















I







SUNCOAS' GIRL
SCOUT COUNCIL








3










1.2.4







NAMONAL OCFANIC
AND ATMOSPHFRIC
ADMINISTRAMON


1
























CITY OF
OLDSMAR










3












:
2


DEPARTMENT OF
THF INTERIOR
3

2










4








4 . S . 6




DEPARTMENT OF
HOUSING AND URBAN
DEVELOPMENT










'















2.3.4
DEPARTMENT OF
NATURAL RFSOURCFS









1 • 2

















32

-------
                                     STATE OF FLORIDA

                 DEPARTMENT OF ENVIRONMENTAL REGULATION
   TWIN TOWERS ornct SUILOINO
   1600 BLAIR STONE ROAD
   TALLAHASSEE. FLORID* M10I »41
      Mr. Ronald J.  Mikulak
       Project Officer
      Environmental  Assessment  Branch
      U. S. Environmental  Protection
         Agency, Region  IV
      345 Court land  Street N.E.
      Atlanta, Georgia     30365
                                                                            BOOORAMAM
                                                                              GOVERNOR
                                                                     VICTORIA J. TSCHINKEL
                                                                             SECRETARY
kt-^>
          RE:   EIS-North  Pinellai County Waatewater Facilitiea
 00   Dear Mr.  Mikulak:

          Because of the  tack of approved waateload allocations  for  the
      majority  of Pine lias  County's surface watera, the EI8 necessarily
      recommends:   (1)  no federal action, (2) a Gulf outfall,  or  (3) a
      wastewater  reuse  program.

          The reuse option  responds potentially to the area'a  surface water
      quality problems, while addreaaing ground water supply limitations at a
      time of increasing  disputes over inter-county water transfers  and water
DKK-ll rights.  Of the three  options, wastewater reuae (3) appears  to be the
     I most appropriate^
                                                                                                         DER-1.
                                                                                                                        Comment noted.
                                        Sincerely,
                                        Rodney S. DeHan,  Ph.D.
                                        Administrator
                                        Groundwater Section
      RSD/dks
                              Protecting Florida and Your Quality ol Life

-------
       9455 Kogvr Boutevanj
  SI Petersburg. FL 33702-24(11
(013)577.5151 Tampa 224-9380
          Suncom 506-3217
               Chairman
       Mr Joseph McFaf 'and

            Vice Chairman
            Commissioner
     WestwoocJH Fietcrw Jr

         Secretary Treasurer
   Councilman William Vannalta

         Executive Director
          CHyoterademon
  Councilwoman Saund'a Rahn

          Crtyofdeerweief
Commissioner James L Berlteid
           OlyotDadeCrly
Commissioner Lawrence Puckefl
            CAyofOunedtn
Commisaioner Donald R Shatter

            CityotGuHport
  CommissK)n«r George Prigun

        HMatMrough County
           xanders Byine
     ^*   Mr Joe ChHIura Ji
       Mr Joseph WcFariand
    Commissioner Jan K Platl
    Mr Robert W Saunders. Sr

             OryolLtrgo
   Mayor George C McGough

           Manata* County
            Commissioner
     Weslwood H Fletcher jr
        Ms Patricia M Glass

      CHy of New Port Rtehey
    Councilman Robert G Pno'
            CilyolOldtmar
      Mayor Grace F
           CityofPabnaiio
        Mayor Robert E Hurt
             Paaco County
          Mr Philip MisNtin
   Commissioner Sylvia Young

           PmHlat County
     Mr Contad Bansoach Jr
          Ms BemFrterson
 Cfxnmssioner George C Greei
    Reverend Preston Leonard
      Mr Michael Zaqo'ac J*

        Crly otPiorta* Park
   Councilman Wniiam Vannalta

        City of SI Petersburg
    Councilman Dejn Slipbe< is

       City of Tfjmpto Terrace
       C«jnc I'mjn .jnr-' Ki-g
                         June  3, 1985

                         Mr.  Ronald  J.  Mlkulak,  Project Officer
                         Environmental  Assessment Branch
                         U.S.  EPA -  Region  IV
                         345  Oourtland  Street, N.E.
                         Atlanta, Georgia   30365
Subjecti  ICSR »97-85;  Draft EIS North  Pinellas Wastewater
            Facilities, Pinellas  County
Dear Mr. Mlkulak:

The enclosed  agenda  item regarding the above  referenced  matter  '(as
considered and approved  by the Clearinghouse  Review Committee of
the Tampa  Day Regional Planning  Council  at  its  Hay  28, 1985  meeting.

Please contact the Council staff if  further information  regarding
this  item  is  desired.
                             f
Sheila Benz
DRI Coordinator

SB/Ik

Enclosure


cc:   Ron Fahs

-------
  CO
  en
TBRPC-1
         IC*R   197-85)   Draft  Environmental  Impact Statement,   North  Plnellas
         Wastewater Facility, Northern Pinellas County
                ICARinGHOUfC  REVIEW!
         The U.S.  Environmental Protection Agency has requested review and comment
         on  a draft of an Bnviromental Impact Statement (BIS)  addressing proposed
         alternative*  for wastewater treatment facilities in North Plnellas County.
         The study area Includes Clearwater, Oldsmar, Dunedln, Tarpon Springs and
         unincorporated area.   Location:   North Plnellas  Countyi   Agencyt   U.S.
         Environmental Protection Agency.

                             Local Contents Requested From

         Pinellas  County Department of Public Works:   Correspondence received  Hay
          20, 1985.  Letter attached.

         City of Dunedin Planning and Conminity Services Departmentt  Correspondence
          received May 17, 1985.  Letter attached.
         City of Oldsmar Public Works Department
          28, 1985.
                                                 No
         City of Tarpon Springs Planning Departmenti   No
          28, 1985.
Pinellas  County Planning Department:
 1985.
         Pinellas  County Environmental Manage
          28,  1985.
          tents received as of  May


           mts received as of May


No comments received as of May  28,


           mts received as of May
                                            enti
                                                  No
         City of Clearwater Planning Department:  No comments received as of May 28,
          1985.
                          Council Cuimiints and Re
                                                   endationst
This  project has been reviewed for consistency with the Council's  adopted
growth policy, the future of the Region.  The proposal has been found to be
consistent with Council policy to encourage the protection of ground water
recharge  areas, wetlands and flood plains while encouraging a  continuing
supply of good potable water for the entire Tampa Bay Region.

This  draft Environmental Impact Statement (EIS) is designed to address the
wastewater effluent alternatives for the Northern Plnellas County 201 Study
area.   Six  basic wastewater disposal alternatives were evaluated for  the
existing municipal facilitiest
                                                                                                   TBRPC-1.
                                                                                                                Comment noted.
                         tompo boy regional planning council
               9455 Koger Boulevard St Petersburg, Fl_ 33702  I813}577 5151 /Tampa 22-1 9380

-------
TBRPC-2
TBRPC-3
 00
TBRPC-4
TBRPC-5
•  Discharge to coastal waters (Old Tampa Bay, clearwater Harbor-st. Joseph
   Sound or the Anclote River)i

This  municipal wastewater disposal option to discharge into coastal waters
is currently being practiced in many areas.   The EIS draft recognizes  the
detrimental  effects  that  the  wastewater effluent  has  on  the  coastal
environment.   Council  policy supports all measures to minimize  discharge
into  coastal water that may jeopardize this natural resource.   (Future of
the Region,  2.701,  2.702,  3.101,  3.012, and 3.6.)  The draft lists this
alternative aa the laast expensive option,  considering that effluent  dis-
charge  is  currently taking place in the majority of  municipal  treatment
plants.
             A Gulf outfall extending from Clearwater Beach Island,
             or the mainland north of Honeymoon Island:
                                                           Honeymoon Island
Extensive  research  and  development on the Gulf outfall as  a  wastewater
discharge option was accomplished in detail,  the installation of a 60-inch
discharge  pipe  4  miles Northwestward of Honeymoon  Island  is  extremely
expensive,  has a high environmental impact potential,  and can be a public
health hazard.   The Gulf outfall alternative does not conform with Council
policies  with  regard to the coastal zone,  and preservation of  Class  II
waters,  marine grass beds,  and Gulf and eatuarine beaches. (Future of the
Region, 2.791 and 3.601).

•  Deep well injection at the Marshall St. Plant or south of the Study Area
   possibly  at  the  County's McKay Creek Wastewater  Treatment  Plan  and
   injection sites

Deep well injection has been tried on an experimental basis and results are
outlined in the EIS draft.  This option is expensive but can be utilized as
a  short term solution to the wastewater effluent problem.   It  Is  likely
that  pumping  pressure  will need to increase over time as  wastewater  is
pumped between two subsurface confining layers.  This is an environmentally
suitable  option  as a back-up method especially during  wet  weather  when
other disposal methods are not feasible.
             Slow  rate  (spray Irrigation) or rapid rate I rapid
             applicationi
                                                                  infiltration)  land
Slow rate (spray irrigation) or rapid rate (rapid infiltration) land appli-
cation  as a means of effluent disposal is dependent upon acreage and  soil
characteristics.   Suitable  land  is  necessary to accept  the  volume  of
effluent without ponding runoff from the site or the contamination from the
effluent  Itself.   Secondary municipal effluents contain concentrations of
nutrients  that  are beneficial to plant growth and it enriches  the  soil.
Spray  irrigation using effluent ideally recharges the aquifer and  removes
some burden from the aquifer as a potable water source.  This option is not
feasible,  however,  in wetlands or areas with poor drainage, or during wet
climate conditions, and is not recommended for the 201 study area.

•  Wastewater reuse of nonpotable wastewater for irrigating recreational or
   other open land areas and industial cooling and service water:
                                                                                                             TBRPC-2.
                                                                                                                            Comment  noted.
                                                                                                             TBRPC-3.
                                                                                                                            Comment  noted.
                                                                                                             TBRPC-4.
                                                                                                                            Comment  noted.
                                                                                                             TBRPC-5.
                                                                                                                            Comment noted.

-------
TBRPC-6
         Wastewatar  reuia  is the only management option that reipondi to  Pinellas
         County's  surface  water quality problems while  considering  water  supply
         limitations.   This environmentally preferred method of wastewatec effluent
         disposal  IK outlined in the BIS for the Northern County araa  specifically
         for parks and golf courses.  Reuse was not considered for individual homes,
         businesses  and  subdivisions due to 'preliminary cost and  available  land
         estimates".  City of St. Petersburg individual property owners already have
         access  to  treated wastewater if the owner pays a hook-up  tee.   With  25
         percent  of  tha  land  in Northern Pinellas County  used  as  residential,
         serious  consideration  should be given to broadening the  availability  of
         wastewatar  effluent  reuse.   Potential  benefits  from  wastewater  reuse
         includei
         1.  Water  is reused for irrigation, including during drought conditions;
         2.  Water  supply and aquifer demands are reduced;
         3.  Wastewater discharge to nearshore coastal waters are reduced;
         4.  Potential recharge of the aquifer; and
         5.  Wastewater  effluent contains nutrients beneficial to plant growth  and
             as a soil additive.

TBRPC-7 I It  is recommended that future wastewater effluent alternative  evaluations
        I explore  the  potential  for commercial and private  water reuse  programs.
        I Council  policy  section 3.103 states that wastewater renovation  and  non-
         potable reuse programs should be implemented where practical.

         Comments   from  Pinallas County Indicate that the specific  recommendations
         for  each  sub-area were based solely on Federal fundabllity and that  there
  2     were  no   recommendations  for the East Lake  Tarpon  sub-area  other  than
         limiting   development.    Further  the  attached  letter  states  that  no
         consideration was given to the need for wet weather discharges.   The EPA's
         policy and regulations do not allow funding for development In the environ-
         mentally sensitive areas east of Lake Tarpon.  Construction grants will not
         provide funding for future wastewater facilities in this area.  Development
         in  this area will be dependent upon small wastewater package plants  which
         have a record for poor treatment, untrained staff, and little environmental
         monitoring on effluents.

TBRPC-8 I The Council encourages EPA to find a viable solution to wastewater effluent
        I east  of   Lake  Tarpon  area.   In addition,  based on  the  above,  it  Is
        I recommended that the alternative of wastewater reuse, with deep well Injec-
         tion  as   a  back-up method in  wet  conditions,  ultimately  be  approved.
TBRPC-9 I Further,   it  Is recommended that any additional comments addressing  local
        (concerns be considered prior to approval.
         Committee ado/ted May.28,
         —JOVA   l/As**l~' AC
                                   1985.
                                Acting Chairman
        "KestwooA B. Fletcher, Jr., Chairman
         Clearinghouse Review Committee

         Please notet  Unless otherwise notified, action by the Clearinghouse Review
         Committee  is final.   Please append a copy to your application to indicate
         compliance with clearinghouse requirements.   The committee's comments con-
         stitute compliance with Florida's Intergovernmental Coordination and Review
         process only.
                                                                                                             TBRPC-6.
                                                                                                                                 nt noted.
                                                                                                             TBRPC-7.
                                                                                                                            Comment noted.
                                                                                                             TBRPC-8.       The No Federal Action alternative has been identified as.  the
                                                                                                                       EIS selected wastewater management alternative for the area east of
                                                                                                                       Lake Tarpon.  Future planning and development decisions in this
                                                                                                                       area are the responsibility of local governing bodies.  Reuse
                                                                                                                       comment noted.
                                                                                                             TBRPC-9.
                                                                                                                            All comments received before July 26,  1985 are considered.

-------
                                   OF*  COUNTY
                                                                 PINILLAI COUNTY SCWCR •YCTtM
                                                                             3IO COURT STREET
                                                                    CLCARWATCR. FLORIDA 33316
 COMMISWONfnm

 flftUCE TVNOALL. CMAIBMAN
 CHARLES £ RAINEV.victCH«ip
 JOHN CHESNUT. JR.
 GEORGEGRECR
 BARBARA SHEEN TODO
                                         Hay 20,  1985
        Ms. Ellen C. Cohen
        IC&R Coordinator
        Tampa Bay Regional Planning Council
        9455 Koger Boulevard, Suite 219
        St. Petersburg, Florida  33702

                                        Re:
                                              IC&R 197-85
                                              Draft EIS, North Pinellaa County
        Dear Ms.  Cohen:
PCSS- 1 I The original purpose  of  this Environmental Impact Statement was  to confirm the
       I preferred  alternatives  for effluent disposal  in the North Pinellas  County 201
       I Study Area.   The  factors to  be  considered were  cost, environmental  impacts,
        operability  considerations and implementability factors.   The  study  area was
        divided into a number of  sub-areas.   These sub-areas were chosen such  that the
        reoornnendatlons  for effluent disposal  could be generalized  for that sub-area.

     2 I it appears  that  the  purpose of the EIS was not completely fulfilled since the
       I specific  recommendations  for  each  sub-area  were  based  solely  on  Federal
     '3 I fundability.   In addition, we  are disappointed that  there was  no recommenda-
       I tions for  the  East Lake  Tarpon sub-area other  than limiting development,  and
        that no consideration was  given to the need for  wet  weather discharges.
oo
oo
PCSS
PCSS-

PCSS-
-*l
rcss-5 I It  should also  be  pointed cut  that the package  treatment plants  in  the East
       I Lake Tarpon  sub-area are county owned  and  operated and not  privately owned as
       I stated  in the report.

l'CSS-6 I It  is unfortunate that the EIS offers no relief with  respect to identifying an
        environmentally  preferred effluent  disposal option that  Is suitable  for year
       (round  use.   Pinellas  County  and  the  municipalities  who operate  wastewater
        treatment facilities will suffer as a result  of  the failure of  EPA to fulfill
        the purpose  and  intent of the EIS.

                                         Sincerely yours,
                                         Todd L.  Tanberg,  P.E.
                                         Director^of SeMDC-Syatgm
                                                                                                               PCSS-l.         The purpose of the EIS Is not to confirm the  701  Plan  recom-
                                                                                                                         mendations but rather to develop and evaluate wastevatrr n.inagcr.iciii
                                                                                                                         alternatives leading to the selection ot the must  cost  effective
                                                                                                                         environmentally sound alternative.
PCSS-2.        An Important element  In  selecting  an KIM preferred alternativt
          is Implementability.  Funding sources and eligibility for EPA fund-
          ing are key factors  In determining  ImplemenlabilIry.

PCSS-3.        The No Federal  Action alternative  lias been identified as the
          EIS selected wastewater nanagcment  alternative for  the area past ol
          Lake Tarpon.  Future planning and development decisions In this
          area ate the responsibility of local governing bodies.

PCSS-4.        The selection of wet weather discharges  cannot occur until
          approved waateload allocations are  available.

PCSS-5.        The EIS will be revised  to show County ownership.
                                                                                                              PCSS-6.        Potential reuse back-ups have been  identified  as  deep well
                                                                                                                        injection, Intermittent surface uacvr dischargf.s  or Gulf  outfall.
                                                                                                                        Additional Investigations and information  Including approved
                                                                                                                        wasteload allocations .ire needed before  an appiopiiate hark-up can
                                                                                                                        be selected.
        TLT:nk
                       PINELLAS CCUNTY  IS AN  EQUAL OPPORTUNITY  EMPLOYER

-------
                                         MEMORANDUM

       TOt          Rosemarie Fallen, Dlv. Director, Planning
       FROM:       John HerrlcW, City Engineer
       DATE:       May 13, 198)
       SUBJECT:    Environmental Impact Statement Draft EIS
                    North Pinellaj County Wastewater Facilities
oo
The  subject document discusses three wastewater disposal  alternatives for the City of
Dunedin. This is to advise that we concur with two of these alternatives as follows:
     I.  Continue  existing discharge to St. Joseph Sound, and
     2.  Distribution  of reusable wastewater to parks, golf courses and other lands for
        nonpotable uses.
The  third alternative of a gulf outfall would be a viable alternative II Federal Funding was
provided.
The  recommendation of reuse plus secondary treatment and filtration is preferred by the
City of Dunedin.
                                                                                                                 CD-I.
                                                                                                                                 Comment noted.
                                                                                                                 CD-2.
                                                                                                                                 Comment noted.

-------
                      CITY    OF     CLEAR WAT E  R
                                                                POST OFFICE BOX 4748
                                               CLEARWATER, FLORIDA 33518-4748
Mr. Robert B. Howard, Chief
NEPA Compliance Section
Environmental Protection Agency - Region IV
345 Court land St. N.E.
Atlanta, Georgia   30365

RE:  North Pinellas County, Florida
     Draft Environmental Impact Statement (EIS)
     Review Comments
 Dear Mr.  Howard:

 Following is a list of review comments for the North Pinellas County Draft
 Environmental  Impact Statement.   We certainly appreciate this opportunity to
 respond.

 Prior to  expressing the enumerated  enclosed  considerations  I  want to specifically
 emphasize that the  City of Clearwater's  principal  difficulty  with the Draft  EIS
 is  that,  contrary  to what  we clearly believed to be  a primary objective  of the
 report, no indication is offered  as to what  direction Clearwater  might possibly
 pursue with  any degree of  anticipated  regulatory approval relative to the permitting
 and  funding  of a permanent effluent disposal method.

 Clearwater originally requested  inclusion  in the EIS  study  specifically  for  the
 determination  of a  viable  effluent  disposal  method and made request  to EPA that
 particular emphasis be given in  the CIS  study to the  Gulf Outfall disposal method.

 The  Draft EIS  clearly states that insufficient  acreage is available  for  total
 effluent  land  disposal and that EPA has  previously rejected deepwell  injection
 for  Clearwater.  The remaining disposal  options  are only Gulf Outfall  and  local
 surface water  discharge.   Of these  two options,  EPA is threatening legal  action
 against Clearwater  for non-compliance  of "zero discharge" determination  to local
 surface waters and  EPA gives no  indication that  approval or funding could  ever  be
 obtained  for the Gulf Outfall.

 Clearwater,  therefore,  finds itself in a dilemmu which the  Draft  EIS makes no
 mention of.  We strongly urge, therefore, that  the EPA coordinate  and  fund the
 Florida Dept.  of Environmental Regulation Wasteload Allocation Study now being
 prepared  for local  surface waters,  and which  is  required by the EIS report.

We further request  that approval of  the  Final EIS report await the results of the
 above wasteload allocation study and that these results be  included in the Final
EIS.  This information  should provide  a  firm  basis for the EPA to make final
 recommendation in the EIS  for a workable effluent disposal method for the City of
Clearwater's sewage  treatment plants.  Anything short of a  logical conclusion of
 the EIS will render  the study's large  cost and many yeara of study totally useless.
                                                                                                       CC-l.           A wastewater  management  alternative  csn not  he  sc-lected until
                                                                                                                 approved  wastelond allocations  are  available lor  old 'i ,imp,-> day and
                                                                                                                 Clearwater  Hatbor  - St.  Joseph  Sound.
                                                                                                      CC-2.          A Gulf outfall alternative was  considered  equally with  other
                                                                                                                effluent disposal  alternatives.
                                                                                                      CC-3.          Wasteload allocation studies which are the responsibility of
                                                                                                                the State of Florida die currt-ntly underway.


                                                                                                      CC-4.          Since conclusions can be made for several r.uharens within the
                                                                                                                F.IS St'idy Arpn, a Final EIS will be published.  Om:e approved
                                                                                                                wasteload allocations are available for Old Tampa Bay and
                                                                                                                Clearwater Harbor - St. Joseph Sound, conclusion.-, can be made for
                                                                                                                the remaining subareas.  U needed, au F1S oupplcn.ent incorporating
                                                                                                                the wasteluad allocation results will be prepared.
                         Employment and Affirmativf Action limptoycr"
                                                              (continued)

-------
CC-5
CC-6


CC-7
      Mr. Robert B. Howard, Chief
      NEPA Compliance Section
      EFA Agency - Region IV, Atlanta, Georgia
      June 4, 1985
      Pag* - 2  (continued)
      Further specific comments follow:

         1.   No mention ia nade in thia report of the numerous private treatment
             facilities throughout Pinellaa County which aerve condominiums,  nobile
             hone parka and aubdiviaiona.   Soot of theae treatment facilitiea are
             targe, for example:   Curlew City, Top-of-the-World Condoaiinium and
             Dynaflo.   No proviaiona are stated for their future operation.   As is
             common with these type of facilitiea, their effluent outfall ia invariably
             to the nearest drainage channel auch as the Dynaflo outfall to Curlew
             Creek.  Actions and recommendations contained in thia report should
             address private faciltiea as well.

         2.   Figure ii shows NEPCF irrigating Top-of-the-World golf course.   This
             is already being done by the Top-of-the-World treatment facility.

         13.   No provision is made for the costs of future development capacity being
             assessed to future system users by connection/impact fees.  This method
             will greatly lower the exiating uaer chargea in Table 5 with or without
  ,O          the availability of federal funding.

CC-9   I 4.   During the late 1970's, Clearwater was repeatedly told that the EIS
             would identify the appropriate method for diacharge of the City'a
       I     effluent.  This goal has still not been achieved, presumably because
             waateload allocations for Pinellaa County surface watera have not yet
             been developed and approved.  We  feel that the six yeara since  the EIS
             was initiated should have been more  than aufficient for EPA and DER  to
             have coordinated and accomplished thia plus any other taak eaaential  to
             aatiafactory completion of the EIS.

         5.   On page vi, Safety Harbor is  incorrectly identified as having a direct
             discharge, when in fact, their raw wastewater is processed at the
             Clearwater Northeaat plant.

         6.   Table iii on page xvii presents data on management alternativea  for
             the area east of Lake Tarpon,  but does not  include  treatment of flows
             from  that area at  the Clearwater  Northeast  plant  (which  is  the  method
             finally recommended  in the North  Pinellas 201 Plan).

         7.   On page xx, waatewater reuse  (for irrigation  and  other non-potable
             purposes)  is cited aa  the preferred  disposal  alternative.  That discussion
             includes  the  statement that "the  need  for  a w«t  weather  backup  for  waste-
             water that  cannot  be reused  is likely  to exist".   In  our opinion,  this
             statement  should  be  strengthened  considerably by saying  that  the need for
             a backup  disposal  method  is essential.   (Very amall  facilitiea  or other
             unique  situations  may be  an exception).  A similar statement  is made in
             the  next  to last  paragraph  of page 92.
cc-io
 CC-ll
 CC- 12
CC-5.          An Inventory of private treatment facilities was presented in
          the Inventory Task Report.
CC-6.     •     The focus of the EIS was the development and evaluation of
          wastewatcr disposal alternatives for municipal facilities In the
          Study Area.  The disposition of the email private fuHHticH (I.e.
          hook-up to tlia municipal facilities 01 coulinueJ diacharge) Is a
          local decision to be addressed through local wnstewater management
          planning.

CC-7.          The site was Indicated as a poosible ulte.  This listing did
          not Imply tliat the Owner agreed (a jccopt wawlewater eUluent lion.
          the Clearwater Northeast unstcwstev treatment plant.

CC-8.          The locnl government would be responsible for  setting connec-
          tion/impact fees.
                                                                                                             CC-9.          A waatewater management alternative  can not  be  selected  until
                                                                                                                       approved wasteload allocations are available Cor  Clc-arwalei Harbor
                                                                                                                       St. Joseph Sound and Tampa  Bay.  The  respnusilil lity  fnv  developing
                                                                                                                       wasteload allocations  Is with Florida DHR.  F.PA docs  li.ive  review
                                                                                                                       and approval  aulliotity.
 CC-10.          Page  vl  will  be  revised  to  state  that  the City of  Safety
           Harbor  is  served by  the  Clearwater  Northeast  wasttwater treatment
           plant.

 CC-ll.          After the  completion of  the 201  Plan,  Pinellaa County and the
           City of Oldsmar agteetl upon the  area  of east  of lake- Tarpon which
           will be served  by  Oldsmnr.   If the  remaining  area oast  of Lake
           Tarpon  is  served by  an existing  treatment plant, cither Tarpon
           Springs or Oldsmar would be selected  because  of the shorter
           transmission  distance and associated  oists.
                                                                                                              CC-12.          Comment noted.
                                                                (continued)

-------
      Mr. Robert B. Howard, Chief
      NEPA Compliance Section
      EPA Agency - Region IV, Atlanta, Georgia
      June it, 1985
      Page 3   (continued)
CC-l/i

 IsJ

CC-15




<:c-lh
a:-17
CC-18
a:-19
cc-.'O
8.  The  last paragraph of  page  7  provides  a  brief  statement  of  the
    complex regulatory situation  involving Pinellas County surface
    waters.  Effluent discharge to  some  of these waters  is restricted  by
    no less than  three separate laws or  rules  as follows:

      -  a "no-discharge"  wasteload allocation issued  by DER in 1978.
      -  a designation of  Outstanding  Florida  Waters  (OFW) which has
         been  illogically  set  to  coincide  with a county  boundary line.
         a classification  of Class  II  waters for shellfish harvesting
         and propagation.

    Despite the existence  of these  regulations, DER is currently conduct-
    ing  new wasteload allocation  studies.  The City of Clearwater agrees
    with this  approach,  and firmly  believes  that decisions on effluent
    discharges must  be made strictly on  the  merits of  water  quality and
    other  technical  factors, and  not on  the  basis  of  arbitrarily established
    regulations.

9.  The  second wastewater  management finding on page  10  should  state  that
    the  City of Safety Harbor  is  already being served  by the Clearwater
    Northeast  plant.

10.   The  last   three management findings on page 11  are ancient history and
    of no  importance to  today's situation.

11.   The  table of land irrigation system characteristics on page 1* implies
    that underdrains are not needed  for  either slow or rapid rate systems.
    At the application rates cited( and  with the soils and groundwater table
    conditions that  typically  prevail  in Northern  Pinellas County,  underdrains
    would  be  required more often  than  not.

12.  The  first  paragraph  of page IS  provides  an unqualified statement  that  a
    backup method of disposal  is  necessary because of  wet weather limitations
    on land disposal.  While  this has  always been  a  fact, both  EPA  and DER
    have been  reluctant  to admit  it in the past.   It  is  noteworthy  that  a
    more realistic view  has now been taken.

13.  On page  IS,  the McKay  Creek plant  is incorrectly  identified aa  being
     in Largo.

14.  On page  16,  effluent from  the Albert Whitted plant is  incorrectly
     indicated  as  being  transferred  to  McKay  Creek.

IS.  On page  16,  we do not  understand  the statement about "the system  operat-
     ing  SO percent of the  available time", aa  a part  of  the  description  of
     the  difference between land application  and water reuse.  Clarification
    would  be  appreciated.
                                                                                                             CC-13.         Comment noted.
                                                                                                             CC-14.         Page 10 will be revised to state that the City of Safety
                                                                                                                       Harbor Is served by the Clearwater Northeast plant.
                                                                                                             CC-15.         Comment noted.
                                                                                                             CC-16.         Additional site specific studies would be  required  before
                                                                                                                       implementation.
                                                                                                             CC-17.         Comment noted.
                                                                                                              CC-18.          Page  15 will  be revised to reflect  unincorporated area of
                                                                                                                        North Pinellas  County.

                                                                                                              CC-19.          Page  16 will  be revised to reflect  the Albert Whlttcd plnnt Is
                                                                                                                        proposing  two 10-Inch JianieLiM  Injection wells tor effluent
                                                                                                                        dispOFd1.

                                                                                                              CC-20.          The  land would  be idle M) percent of the time.
                                                               (continued)

-------
       Mr. Robert B. Howard, Chief
       NEPA Compliance Section
       EPA Agency - Region  IV, Atlanta, Georgia
       June It, 1985
       Page - 4   (continued)
 CC-21  I  16.  In Table 1 starting on page 20,  there is no explanation of the many
              missing numerical designations of disposal  alternativea,  or why
       I       these alternatives were eliminated from further consideration.

 CC-22    17.  On page 25,  clarification is needed with regard to the statement  that
              "Sewers from the area east of Lake Tarpon connected to any treatment
              plant other  than either the Oldsmar or the  Tarpon Spring* WWTP would be
              costly or result in operational  concerns".   This and  following statements
              are contrary to a concluaion of  the 201  Plan (which suggests treatment
              at Clearwater Northeast)  without explaining why.

         18.  On page 26 and 27, it is stated that the cost figures are based on
              1980 values  and that  facility construction  is/was astuned to take
              place in 1984.   These costs are  outdated.

 CC-24  I  19.  In Table 5 on page  34,  it is unclear  why the user charge  estimates  are
       |       so much higher  for  Northeaat than  for the other  two Clearwater  plants.

 CC-25  I  20.  It  is suggested  that  Table  5 contain  a statement  to the effect  that
       |       the  cost* are outdated.

         21.  Page  36  contains  a  statement about  a Gulf outfall which expresses the
              concern  of "questionable  acceptance by the  public or any  regulatory
              agency,  in light  of the uncertain  likelihood  that discharged effluent
 CC-26         would adversely affect barrier island beaches".  The statement  is both
              ambiguous and unnecessarily  inflammatory.   In addition, it contradicts
             many other comments in the report which conclude  that the effluent would
             not be expected to reach  the beaches, and that pollutant concentrations
             would probably be indistinguishable from background levels even if it did.

CC-27    22.  Table 6 and Figure I  indicate that  the Clearwater Cast WHIP could or should
             supply affluent for irrigation to the Cove Cay Coif Club and the St. Petersburg/
             Clearwater Airport.  Both of these properties are located well to the south
             of Clearwater within the service area of the City of Largo.  While Cove Csy
             i* about equidistant from the two treatment  plant*, the airport i* immediately
             east of the Largo facility and just north of other properties already receiv-
             ing their effluent.  In any event, the airport ha* already indicated that
             they do not wish to utilise effluent for this purpose.

CC-28 I 23.  On page 44,  reference i* made to the discharge from the Safety Harbor  plant
      I      which haa been abandoned for several years.

CC-29 I 24.  On page 54,  statistic* on commercial fishing are cited  from 1976.   Since
      |      this is of no pertinence today,  the figures  should be updated or deleted.

             The economics and employment statistic* quoted on page  59  ire too  old
             (1977 to 1980) to be of any interest at this time.
                                                                                                              CC-21.
                                                                                                              CC-22.
                                                                                                             CC-23.
                                                                                                             CC-24.
                                                                                                             CC-25.
                                                                                                             CC-26.
                                                                                                             CC-27.
                                                                                                             CC-28.
                                                                                                             CC-29.
                                                                                                             CC-30.
CC-30
r
                                                                                                                       The number designations were presented In the Alternative*
                                                                                                                  Development Task Report.  The reasons for eliminating net tain
                                                                                                                  alternatives from further consideration were presented In the
                                                                                                                  Alternatives Development and Evaluation Took Reports.

                                                                                                                       After the completion of the 201 Plan, Plnellas County and
                                                                                                                  Oldsmar agreed upon the area east of Lake Tnrpon which will be
                                                                                                                  served by Oldsmar.   If the remaining area of Lake Tnrpon is nerved
                                                                                                                  by an existing treatment plant,  either larpon Springs oe 01
-------
      Mr. Robert  B.  Howard,  Chief
      NEPA Compliance  Section
      EPA Agency  -  Region  IV,  Atlanta,  Georgia
      June 4,  1985
      Page -  5     (continued)
         26.  Table 11 on page 76 includes this statement about Gulf outfalls.
             "As a vastewater plume would rise, dilution would allow water quality
             criteria for all waatewater constituents except phosphorus to be met
             within SO feet of an outfall."  It should be noted that if phosphorus
             is of real concern, that levels in Che effluent could be readily reduced
             prior to discharge.

         27.  On page 78 and 79, information on the predicted dilution of effluents
             from a Gulf outfall is provided.  However, this analysis is apparently
             based on discharge into IS feet of water, whereas about 30 feet of water
             actually exists at the locations which night be considered for discharge.
             The use of 30 rather than IS feet would result in a considerably higher
             degree of initial dilution.

         28.  In footnote (1) of Table 12, the cited concentrations of total and fecal
             coliforms are much higher than should be considered typical of properly
             disinfected secondary effluents.

CC-J5  I  29.  On page 93, the tern "fundable" alternative needs to be defined.

         30.  Page 96 states that a Gulf outfall would provide-the area with a reliable
             long-term disposal option.  He feel that reliable long-term disposal of
             some sort is absolutely essential to the area, that land application
             schemes do not fulfill that need, and that injection wells may not either.
             Therefore, if outfall discharges to near-shore waters such as Old Tampa
             Bay, St. Joseph Sound and Clearwater Harbor are prohibited, a Gulf outfall
             would be the only alternative capable of providing that necessity..

         31.  Page 96 also states that an investment in a Gulf outfall would tend to
I             discourage effluent reuse.  We do not necessarily agree and feel that a
             committment to effluent reuse could be worked out during the various
             permitting processes.

         32.  Page 96 also states that a Gulf outfall could promote higher density
             development, and development in environmentally sensitive areas which
I             are not suitable for on-lot or recycle wastewater management.  We feel
             that growth should be (and usually is) managed by zoning, land use and
             other factors which have nothing to do with wastewater handling.

         33.  Page 96 also states that uae of a Gulf outfall would require secondary
             treatment and disinfection of wastewater to mininize adverse impacts on
CC-40  I      local beaches.  Since this level of treatment is required for any discharge,
       I      we do not understand the point being made here.  In any event, we feel that
CC-41  I      the secondary effluent should also be filtered prior to use of a Gulf
       I      outfall as an added safety factor.

                                                               (continued)
CO jfi

   VO
CC-31.         Additional treatment could be Included to remove phosphorous
          or other wastewater constituents.  This additional treatment would
          result in additional costs.
CC-32.         Fifteen feet was selected to demonstrate the results of
          mathematical simulations to determine probable dilution rates.

CC-33.         The use of 30 feet would likely result in a higher degree of
          Initial dilution.

CC-34.         Comment noted.
CC-35.         The funjable alternative la the most cost effective,
          environmentally sound disposal alternative that would ho cllgiblr
          to receive EPA construction grant funds.

CC-36.         Comment noted.
CC-37.         Comment noted.
CC-38.         There would be little incentive to invest in a major reuse
          alternative If investment was made in a Culf outfiill alternative.
CC-39.         EPA agrees that zoning, land use and ott.er similar activities
          are local governing bodies responsibilities,  iiowcver, the
          availability of wastewatel handling can certainly remove a develop-
          ment constraint.
CC-40.         The purpose Is to define the level of treatment.

CC-41.         Filtration has been considered and could possibly be provided
          if a Cull outfnll  is recommended once approved wasteload
          nllocatlons are available.

-------
Mr. Robert B. Howard, Chief
NEPA Compliance Section
EPA Agency - Region IV, Atlanta, Georgia
June 4, 1985
Page - 6   (continued)
  34.  Although the EIS states that Gulf outfall  station 3F  (4  nilea  west
       of Honeymoon Iiland)  wai found to be le«§  environmentally icnaitive
       than site* closer to  shore,  we could not locate clearcut supporting
       evidence for this conclusion either in the EIS or in  the report* on
       sampling and dye movement prepared by Mote Marine Laboratory.

  35.  The next to last paragraph on page 43 relative to the average  dissolved
       oxygen of "more than  7.0 .ngl" in Old Tanpa Bay is somewhat misleading
       inasmuch as bottom samples in that same area may be near xero.

We appreciate the opportunity to respond to the report and hope that  you will
closely examine our poaition  in this nose important matter.
copies:  E. S. Haeseker, Asit. City Manager
         F. J. Janocha, Water Pollution Control
         William C.  Baker,  Director of Public Work*
         John Dennis,  Briley, Wild and Aisoc.
CC-42.         The statement was made based on bottom habitat, the presence
          of hard bottoms and current data which were presented in the Marine
          Sampling Program repotts.

CC-41.         The statement was not written to mean that all samples show
          dissolved oxygen values of more than 7.0 mgl.

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                                             UNITED STATES DEPARTMENT OF COMMERCE
                                             Nation*! OcMitle end Atmo*ph«ri« AdminiMrrtlan
                                             NATIONAL MARINE FISHERIES SERVICE
                                             Southeast Regional Office
                                             9450 Koger Boulevard
                                             St.  Petersburg,  Fl. 33702
                                             June 7, 1985
                                                               F/Sr.RI I.VWMT
                                                               904-214-5061
wirs-i
Mr. Jack K;ivan
U.S. (:.PA - Region IV
3.15 Court land St. , N.E.
Atlanta, C,;i.  SOJhS

Dear Mr. Rnvnn:

     The National  Marine Fisheries Service has reviewed the Draft Environmental
Impact Statement for North Pinellas County, Florida regarding the proposed
wastewatcr management facilities for northern Pinellas County, Florida.

     Our preferred alternatives for disposal of treated wastewater are:
deep well  injection, land application and water reuse, and on-lot systems
with assurances of proper installation and operation.  Outfall(s) to the
Gulf of Mexico would be acceptable providing the effluent is adequately
treated to avoid any degradation of the receiving waterbody.

     We appreciate the opportunity to provide these comments.  If you
have any questions, please contact Mr. Mark Thompson of our Panama City,
Florida Area Office at 904-234-5061.

                                       Sincerely yours,
                                                                                                              NMFS-1.
                                                                                                                             Comments noted.
                                              Richard •). Moogland
                                              Chief, F.nvironmental Assessment Branch
                                                            .. iV


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  SOUTHWEST  FLORIDA WATER MAN AGEMENT DISTRICT

                           2379 BROAD STREET. BHOOKSVILLE. FLORIDA 33SI297I2
                                 PHONE (904) 796-7211   SONCOM 684-0111
                          BRUCE A. SAMION CA*rff*«i. Ttnvf  Mm 0 STU8BS. JR  Via O*n»»>. OtOf City
                           MARY A KUMPE. bcrrrm. S»«tM  RONALD I LAMSE H t tnwn*. HvjtXvil
                  DONALD R CRANE If . Annum Sxrrrov Si 'imtvf MICHAEL ZAGOUAC JH . /Iniuni TUMani.
                      WALTER H MARKAIA. «*ii Orx IACK STHAUCHN. H'nlft Hntn  JAMES P TAFT. Crylfj' «
-------
        Mr. Robert Howard
                                                                              June 11, 1985
SKWMD-4
SI WMII-'I
    well construction problems or inadequate confinement, effluent  is leaking to the
    overlying  aquifer.  McKay Creek and South Cross Bayou are inoperative at present
    and testing is scheduled to determine if these facilites are leaking. In addition, the
    Albert Whit ted WWTP is proposing to construct two 30 inch diameter injection wells
    for the purpose of effluent disposal.

    Tables Z and 3 (pages 30, 31) illustrate the present worth cost summary for the Old
    Tampa  Bay  Sub-area  and the  Clearwater  Harbor/St.   Joseph  Sound  Sub-area.
    However, due to the extensive monitoring which may be required, both onsite and
    offsite  to monitor  any  adverse  impact* on   wellfields  and surrounding water
    resources, by regulatory agencies, these tables may not reflect true total costs.

The staff comments  stated above  have not been presented to the District Governing
Board.  This review does  not stand in lieu of normal permitting procedures, nor does it
necessarily represent  the position or opinion of the Governing Board.

Thank you for this opportunity to comment. If I may be of further assistance, please feel
free to contact me.

Sincerely,
                                                                                                                     SWFMD-4.
Page  15 will be updated  fo  reflect current  information.
                                                                                                                     SWFMD-5.
                                                                                                                                     Comment noted.
        PHILLIP W. WALDRON
        Planner
        Planning Section
 00
        PWWipam

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           DEPARTMENT OF HEALTH 4 HUMAN SERVICES
                                                                       Public
                                                                       Centtrt for D'UJM
                                                                       AilinnGA 30333
                                                                       June 14,  1985
VO


USPMS-I
USIMIS-2
                                                   ...iiC.
Mr. Robert B. Howard                  " .   JM**  •    '
Chief, NEPA Compliance Section
Environmental Protection Ap«"-'.
345 Court land Street, N.E.
Atlanta, Georgia  30365

Dear Mr. Howard:

We have reviewed the Draft Environmental Impact Statement (EIS) for Waatewater
Facllitiea, North Pinellaa County, Florida.  We are responding on behalf of the
U.S. Public Health Service and are offering the following comments for your
conaideration in preparing the Final EIS.

The Draft EIS, aa presently written, ii a preliminary report which doea not
present » preferred alternative due to the lack of approved waateload alloca-
tions for moit of Pinellaa County's surface waters.  He agree that prudent
waatewater management decisions must wait for the  issuance of wasteload
allocations and that to recommend an alternative now would riak noncompllance
with  future regulatory guidelines.  Clearly, we also cannot comment on
allocation-dependent issues/alternatives until  such allocations are established.
Therefore, we isuat reaerve our Agency's comments until we receive the necessary
information delineating both  the wasteload allocation* and the preferred manage-
ment  alternative.  He truat this information can be provided soon.

He can  comment  at this time,  however,  on the aervice areas whose waatewater
management alternativea are basically  independent  of wasteload allocations.
The environmentally  preferred alternative  for sewered areas of North Pinellaa
County  has been  identified as reuse of wastewater  for non-potable applications.
There should be minimal environmental  or public health impacts reaulting  from
the implementation of thia alternative provided that waatewattrs are adequately
treated (treatment dictated by  intended application) prior to  reuse.  The  chosen
alternative  for  the  area  east of Lake  Tarpon is to not provide funding  for
wastewater  facilities In  order  to discourage development  in this environmentally
sensitive area.   Existing waatewater management methods  around Lake Tarpon
include aeptic  tanks with absorption  fields and private  package  plants  facilitat-
ing land  application aitea.   The deciaion  to "administratively"  discourage
future  development  in thia  sensitive  area  is commendable; however,  improper
location  and/or mismanagement of  individual on-site and  small  land  application
processes could result  in severe environmental  and public health impacts.
Considering  that  future development east of Lake  Tarpon  will  rely  excluaively
on such systems,  the Final  EIS  should  address  the potential  for  adverse environ-
mental  and  public health  impacts  related  to continued  growth  in  this  area.
                                                                                                              USPHS-1.
                                                                                                                              Comment  noted.
                                                                                                               tlSPHS-2.
                                                                                                               USPHS-3.
                                                                                                                              Comment noted.
     If wastewntur management activities continue in the future- as
they have in tlii past. 7.PA docs not expect i potential for
environmental and public health impacts whicli .lie related to
growth.

-------
         Page 2 - Hr. Robert B. Howard
O
O
         As suggested by the Draft EIS, the Gulf outfall alternative requires further
         study.  Public health and environmental impacts of thia proposal are not
         easily addressed in general terms, especially becauae complex water movements
         make predictions of impacts on Gulf beaches very uncertain.  Public health
         impacts are further complicated by the implications of researchers currently
         reviewing marine water quality.  Recent studies have suggested that wastewater
         outfalls near marine recreational areas nay be associated with significant
         health risks to bathers.  Furthermore, indicator organisms other than the
         traditional coliforms may be necessary to accurately quantify the degree of
         exposure.  Therefore, we feel that any comments on the environmental and public
         health significance of a Gulf outfall would be inappropriate without specific
         site information (e.g. modeling studies, construction details, background
         sampling data, etc.).

         We appreciate the opportunity to review the Draft EIS and would like to
         receive a copy of the supplemental information concerning waateload allocations
         and the preferred management alternative, •• well a* a copy of the Final EIS,
         when these materials become available.  If you have any question! regarding
         our comments, pleaae contact Hr. Bob Williams, P.E., of our staff at 432-4161.
                                            Sincerely yours,
Stephen Hargolis, Ph.D.
Chief, Environmental Affairs Group
Center for Environmental Health
                                                                  USPHS-4.       As indicated in the Draft F.IS, additlor.nl site sprcliK
                                                                            analyses ai;d (jtimit/aJminlstrnHvp review end approval wt.uld be
                                                                            needed if a Uulf outfall alternative wtre to rcd-lve  further
                                                                            consideration.

-------
         6-15-85                                                 -k>ti
         S.O.L.I.D.                                            '           ' ' .'V^J

         Mr.  Rafcert  B.  H*war4
         Chiaf                                                                  ' .
         Napa Cemplianae Seo.                                              .
         I.P.A.   R*(i*n 4
         345  Caartland  St.  N.J.
         Atlanta.  Oa.   30365

         Dear Sin

               Thank y*a f »r the  *pp*rtiuiity t* b* *n racard that "Sara Otr Uk*
sol in-1 |lnTit« Diaoaaelen" with  145 »ai4 B*»**ra  ar* acalnat th* eatfall to
        |th*  fulf,   far wast* water traatnaut.

sol 111-2 I      Th* ii«°»*»l»n r*|ar41nt  and th* argaacnt far th* r*-uae *f vatar
        | far  Pinallai Caunty la an *»*ll*nt an*.  It la tin* Plnallaa Caunty la
         ma4* ta lira within th*  r**Ia *f  o*nal4aratl*n far th* •nriranmant. Th*
         •san* on Laka  Taryan far thr**  daya tola aanth  414 nat (*t nawa e*r*raf*
         •r waa any  Pinallaa Caanty warnlnc iaaa*d far health and walfar* e*na*m
         far  th* aapilatlan *f th* area.

               T* (rant than thia aatfall raqaaat w*«14 **pvOata tha Caanty *r*n
         o*r* *ino*  thara w*«14 a* n* iladtinf faatar.

£                                                iaat Rnaraa
                                                                                                     SOLID-1.        Comment noted.


                                                                                                     SOLIU-2.        Comment noted.
                                          Marfant 0. Fa«c«tt, 9*o.
                                          •lav* 0«r Uk* Inrlt* Ola«aaai*n<
                                          1820 Rlahar* Irrin Farkway
                                          Tary*n Jpringa, Via. 33589

CCi  0*T*rn*r •*• Orahaa

-------
                                                              8uneo*>l
                                                              Olrl •eout Council. Inc.
                                                              3711 Walroul »v«nu«
                                                              Timpl. Florid! 33629
June  18,  1985
Ronald  J.  Mikulak,  Project Officer
Environmental Assessment Branch
EPA,  Region IV
3«5 Courtland Street,  N.E.
Atlanta,  GA  30365
Re:
North  Plnellas County,  Florida,  Draft Environmental Impact
Statement  For Proposed  Wastewater  Facilities
Dear Mr.  Mikulak:

Suncoast  Girl Scout  Council,  Inc.  is strongly  opposed  to  Gulf
outfall  as a system  for effluent  disposal,  as  recommended in the
draft of  the North  Pinellas County Environmental Impact  Statement
For  Proposed Wastewater Facilities.   We feel  that such a  method
of effluent disposal  is potentially  hazardous  to the health and
welfare  of girls and  adults using  Girl Scout  Camp Wai  Lani, which
is located in Palm  Harbor and  situated on  the  Gulf of  Mexico.

We realize that spray irrigation  is  the primary method of
effluent  disposal  recommended  by  the 201 Plan  and contained in
the  draft of the Environmental  Impact Statement presented
Tuesday,  June 11,  1985 at the  Public Hearing  at the Pinellas
County  Courthouse,  Clearwater,  Florida.  However, the
recommendation of  Gulf outfall  as  the backup  method for  effluent
disposal  from the  North Pinellas  County Plant,  located just east
of Girl  Scout Camp  Wai lani ,  and  from the  Tarpon Springs  Plant,
located  to the north  of Wai Lani  is  totally unacceptable  to
Suncoast  Girl Scout  Council,  Inc.   We urge  that you consider
percolation ponds  as  a backup  method of effluent disposal,  as you
have recommended for  the Oldsmar  Plant, or  other methods  of
wastewater disposal  more beneficial  to the  environment and  more
acceptable to the  public.
                                                                                      SGSC-I.
                                                                                                    A Gulf outfall alternative w.is evalinted :><: ,n wnntfw.itcr
                                                                                               disposal option an were sevia.i! oilier  alternative!,.  The c.ili
                                                                                               outfall alternative Is not  voruiuincudcd .IK the env I rimn.'in > I ly
                                                                                               preferred E1S alternative.  Costs ?nd  en« lronmunt.il st.iti>m"nts
                                                                                               concerning a Gulf outfall are, however, presented.
                                                                                      SCSC-3.
                                                                                                    A Gulf outfall, tc ueivc as a b.icV-up method for effluent dis-
                                                                                               posal In not recommended in the fir-.ft KIS.  Tlie termium-mlo!
                                                                                               alternative for latin.n upriuga i:. c!I:;crnrp.r to chi/ Auclutr River.
                                                                                                    Percolation pon.-ls arc not recommended :»•-•  T hack-up  In the
                                                                                               EIS.  Potential back-tips  for Hie env irontnenLal ly preferred
                                                                                               alternative ol w.-istewater reuse include deep well Injection,
                                                                                               intermittent surlnce v»ter ciischiirge or ;i Culf outf.iH.
                      T.l.phon. Hllltborough (8131 253-0691. Pm«IIM (813) 442.7104
                      Swing H.rn«ndo. HilltDorouglt. Pnco ltd PimllM CouMlM

-------
       Ronald J.  Mikulak
       June  18,  1985
       Page  two
SCSC-4
Suncoast Girl  Scout Council,  Inc.  has a membership representing
approximately  15,000 families  In the Tampa  Bay  area.   In the
early  1970's,  the Council  took a position opposing the disposal
of effluent  through a Gulf outfall system.  We  continue to uphold
that position.  We strongly  urge you to reconsider the 201 Plan
recommendation that a Gulf outfall system be  used  as  the backup
method  for  effluent disposal  from the North Plnellas  County and
Tarpon  Springs Plants and  to  develop, before  the final proposal
Is published,  alternative  methods for effluent  disposal at these
locations.

Yours  sincerely,
                                                                                                 SCSC-4.       Alternative methods for vastewnter disposal have  been
                                                                                                          developed.  A Gulf  outfall disposal alternative is not  tecomnended
                                                                                                          for either  Tarpon Springs or the North Pine)Ins County  vnotcwutcr
                                                                                                          treatment plants.
       Patricia H.  Allison
       Executive Director

       djt
    O
    UJ
                                Suncoasl Girl Scout Council. Inc.
                            3711 Watrous Avenue. Tampa. Fiorldi 33629

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                                        UNITED  STATES DEPARTMENT OF COMMERCE
                                        National Oceanic and Atmospheric Administration
                                        W.isti.M it-"' 'i r, ."',' \<»
                                        June 19, I 985
                                                                    : '
Mr. Robert B. Howord
Chief, NEPA Compliance Section
Environmental Protection Agency
Region IV
3*5 Courtland Street
Atlanta, Georgia 30365

Dear Mr. Howard:

     Enclosed are additional comments from the National Oceanic and Atmospheric
Administration for the North Pinella County, Florida Wastewater Project.  Comments
from the Southeast National Marine Fisheries Region were sent to you earlier.
     We hope our comments will assist you.
                                        Sincerely,
                                        Oavid Cottinghom
                                        Ecology and Conservation Division
Enclosure

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                                         UNITED STATES DEPARTMENT OF COMMERCE
                                         National Oeiinlo and Atmotphtrle Administration
                                         NATIONAL OCEAN SERVICE       ^*'
                                         • i.h.ngnn. DC  ?0?]
-------
                                              City of  Oldsmar
     June 24,  1985
co-i
 Mr.  Ronald J. Kikulak, Project Officer
 Environmental Assessment Branch
 U.S.  EPA - Region IV
 345  Courtland Street, N.E.
 Atlanta, Georgia 30365

 Reference:  Comments on North Pinellas County
             Environmental Impact Statement.

 Dear  Mr. Mikulak:

 The  City of Oldsmar has been working diligently for years to develop
 an environmentally sound plan for wastewater management which would
 serve the City's needs through the foreseeable future.   We have
 participated to the fullest extent possible  in the preparation of
 the  Pinellas County 201 Study and supported  the study until its last
 minute change by certain parties which did not seem to have the best
 interests of the City of Oldsmar in mind.  Although the City has had
 problems with their present wastewater treatment plant for several
 years, it has restrained itself in proceeding with necessary
 modifications to the facility, awaiting the  outcome of the Environ-
 mental Impact Statement in order that the  City did not proceed down
 the wrong avenue and be forced at a later  date to revise or reverse
 its  plan with the subsequent waste of funds  which the city can ill
 afford.

 The City and the surrounding area is presently experiencing unpre-
 cedented growth and the forecast is that this growth will continue,
 not only here but across the whole state for the next several years.
'The present population within the Oldsmar  service area  and the East
 Lake  service area,  to which we are expected  to provide service,  is
 significantly in excess of that projected  in the Pinellas County 201
 Study.

 The City is constantly approached by adjacent land owners wishing to
 annex their property into the City of Oldsmar.   If we accept these
 properties into the City, we must be in a  position to provide all
 municipal services,  including wastewater treatment and  disposal.  We
 are unable to formulate plans for accomplishing this  as long as  the issue
 of wastewater treatment and disposal is not  resolved.
                                                                                             CO-1.
                                                                                                         Comment noted.
                             COUNCIL -MAMAl.il• H •!•-<

                       O. BOX  I'll) OULXjWAH. ILOFIirM .

-------
     Ronald J. Mikulak,  Project Officer
     Environmental Assessment  Branch
     N. Pinellas County  EIS
     June 24,  1985
     Page Two
     We attended  the draft  EIS  presentation meeting on June 11,  1985,
     confident  that at  last we  were  going to receive some guidance
     from EPA regarding the service  area  we would be committed to serve
     and a recommended  plan for effluent  disposal which would allow us
     to proceed with resolving  our current problems and provide  direction
     for planning  for our future wastewater needs.   Unfortunately, that
     was not to be, and we  left the  meeting knowing little more  than when
     we entered.

     We have since reviewed the draft  of  the referenced document and would
     like to offer the  following comments on behalf of the City  of Oldsmar.
 O
 -j
CD-2
The draft EIS provides absolutely  no guidelines  or recommendations
for the City of Oldsmar.  This  is  predicated  on  a  statement on page
91 which says that the EPA will not  recommend wastewater management
alternatives for areas contiguous  to waters which  have  not yet had an
approved wasteload allocation study  completed.   This  is because EPA
does not want to recommend alternatives which may  later not be in
accord with these allocations.  We certainly  understand this position
because we have been  in that same  position for several  years,  however,
please realize that the lack of a  plan for effluent disposal approved
by FDER and EPA completely precludes our  receiving any  grant funding
for correcting our existing problems.

It is our understanding that a  draft version  of  the wasteload allocation
study has been completed and that  it will effectively preclude Oldsmar
discharging into Upper Old Tampa Bay, including  Mobbly  Bay.  The
statements in the last paragraph of  page  7 of the  Draft EIS regarding
denial of NPDES permits for facilities which  discharge  into Class II
waters and which have also been classified as "Outstanding Florida
Waters" would certainly apply to the Bay  waters  adjacent to Oldsmar. It,
therefore, seems to be a rather shallow decision on EPA's part to
avoid providing recommendations for  the City  of  Oldsmar while waiting
on the final version  of a study which has a 99.91  chance of denying any
discharge from the City of Oldsmar WWTP into  the Bay.

To compound our concern, we are presently faced  with  a  moratorium on
connections to our existing wastewater treatment facility requiring
Florida Department of Environmental  Regulation's approval because of
problems with our existing effluent  disposal  facilities.   We withheld
taking action to upgrade our existing facility and correcting our
effluent disposal problems for  several years  waiting  upon the completion
of EPA and DER studies and we are  now at  the  point where we have to do
something now or shut down our City.

I We are, therefore, requesting that EPA immediately confer with the
Florida Department of Environmental  Regulation to  resolve the wasteload
allocation question and then provide the  City with recommendations for
                                                                                              CO-2.
                                                                                                           Coranent noted.
                                                                                              CO-3.
                                                                                                           F.FA has reviuwpd the Drift WasteUnid Allocation Report for
                                                                                                       Tampa Bay and provided comments to Florida DI.K.  Kr"A uill continue
                                                                                                       to work w)tl> r»KR inuil the r 111.1!  W/i.ste Allocation Report )s
                                                                                                       submitted to and approved by KM.

-------
    Ronald J. Mikulak, Project Officer
    Environmental Assessment Branch
    N. Pinellas County EIS
    June 24, 1985
    Page Three
    our wastewater management problem.  If you will contact Mr. Steve
    Palmer, with FDER in Tallahassee, he will confirm our statements
    regarding the wasteload allocation matter.

    We have worked patiently with the regulatory agencies for years
    waiting for direction and we have completely run out of time.
    We need direction immediately and will appreciate everything EPA
    can do to expedite providing such direction.

    Sincerely ,
                           *
    GRACE F. WILLIAMS, MAYOR
    CITY OF OLDSMAR, FLORIDA

    GFW/cdm
O
00

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                     United States Department of the Interior

                         OFFICE OF ENVIRONMENTAL PROJECT REVIEW
                                    SoulhriM Rrgiun / Suite 1360
                                  Richinl B  Rmicll FrJrril Buildini
                                75 Sprni) Sltrn. S.W. / Acldiili. Oi JOJ03

                                Telrphimc 404/221-4524 . F1S 242-4524

                                        m i 4 1985
noi-2
1)01-1
DOI-4
D01-5
DOI-6
   ER-85/656

   Mr.  Jack E. Ravan
   Regional Administrator
   Environmental Protection Agency
   345  Courtland Street, NE
   Atlanta, Georgia  3036S

   Dear Mr. Ravan:

   The  Department  of  the Interior has reviewed the draft environmental
   Impact  statement  (EIS) for  Wastewater Facilities, North Plnellas
   County, Florida, and has the  following comments.

   Known mineral  resources In the project area Include  limestone, marl,
   shell, clay, and sand and gravel.  In the past,  limestone and sand and
   gravel  have been produced. Local clay appears  suitable for use as a
   light-weight aggregate and may have possible uses  as  fuller's earth.

   Owing to  non site-specific  information In the DES,  It Is difficult to
   assess  impacts  on  mineral resources in the area.  Still, because of
   the  Increasingly  urban nature of the project  area  and the Inherent
   restrictions that have already  been placed on mineral development, the
   Impact  on mineral resources near the proposed project would probably
   be minimal.  For completeness,  however, subsequent versions of the DES
   should  describe mineral  resources In the area and provide a statement
   regarding Impacts,  If  any,  that would occur as a result of project
I   Implementation.    If  no significant Impacts are anticipated, then a
   statement  to that effect should  be Included.

I   The  Fish  and Wildlife Service supports effluent disposal methods which
I   eliminate discharges into estuarine habitat.   The FWS agrees with your
I   assessment that  wastewater  reuse would  be  the environmentally
   preferred disposal  alternative.  Other acceptable disposal methods
i   Include deep-well  Injection and  spray Irrigation.

   (The  statement  should  evaluate  the  effects of Increased export of
   ground water  under  the Gulf outfall  alternative.  He suggest that
   (monitoring during  deep-well  Injection should  Include continuous
   recording of  pressures  and Injection rates  for each Injection well.
                                                                                                        DOl-l.
                                                                                                                      No significant  impacts arc put frlp.itod.
DOI-?.         Comment noted.
DOI-3.         Comment noted.


DOI-4.         Comment noted.


UOI-5.         The "export" of groundwater from the Study Area  Is not United
          to  the Gulf outtall alternative, but is common to  .ill surface water
          discharge alternatives.   Surface watet discharge in the current
          disposal practice for all  but two discharges.   A Gulf outfall
          alternative shuuld, therefore, not be expected to  significantly
          Increase the level of "export" of groundwater  beyond  current levels.
                                                                                                        DOI-ft.
                                                                                                                      Comment noted.

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           Monitoring  pressures and injection rates will  aid in  early detection
           of accidental  hydraulic fracturing, formation  plugging,  or breaks  in
           the casing  or  injection piping.

           Thank  you for  this opportunity to comment on this document.

                                             Sincerely yours,
                                            'James H.  Lee
                                             Regional  Environmental Officer
o

-------
                                                 U.S. Department e uvnilahle until
                                                                                                                      the miiidlp <-f  11)86.

-------
     B.   Water Conservation:
1)011-2
mm-3
IXMI-4
          On page XXIV,  the  EIS  draft appropriately encourages water
     conservation and  Indicates  that, "local plumbing codes may require
     revisions."   It Is  recommended  that those words be deleted unless It Is
     known specifically  that that code would require revision.  Many local
     plumbing codes seem to  allow additional water conservation devices.  It
     would be desirable  If a sentence were  added Indicating that a county
     ordinance Is all  that would be  necessary for this very Important low
     cost/benefit concept.   It Is further recommended that this page refer to
     possible energy savings possible from  reduced dally consumption of hot
     water.   A smaller utility and electrical monthly bill over the mortgage
     period Is highly  favored In HUD housing since such savings easily off-set
     any relatively small Initial costs.  Maintaining a non-excessive water
     pressure (20 ps1  at the tap) should be emphasized on this page as a
     recommendation for  water conservation  equal to other water conservation
     measures listed.

     It Is hoped  that  these  comments are helpful during this EIS comment
period.

                                 \S1ncere1y,  .
                                       \       ,.-   \
                                    '-  »<{.£  Kd'/l
                                        Ivar 0. tverson
                                        Regional  Environmental  Officer
                                                                                                           DOH-2.
               It is suggested that local  plumbing  codes  are  T"ieweci  to
          ensure thai  water conservation requirements  are conslsrent.
DOH-3.         Page 19 of the Draft EIS refers to tlie 1983  state  law.

DOH-4.         Energy savings ware addressee' In the Alternatives  Pcvelopment
          Task Report.

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i HI OHAHAM
                         0$fftcp of tljc (iolieruor
                                   IN, OntOt
                                 TALLAHASSCI 1IJOI

                                July 25.  1985
                                                                                       STATE OF *o«c* | <^ i fl|jsA, j  FLORIDA DEPARTMENT OF AGRICULTURE & CONSUMER SERVICES

                                                                                                 rone cow** coMmsoNm  *  3<» CONNER BLVD.  TAUAHASMC snot  Division of Forestry
                                                                                                                                         May 10,  1985
Mr.  Ronald J. Mikulak
Project Officer
Environmental Assessment Branch
U.S.  EPA - Region  IV
345  Courtland Street, NE
Atlanta,  Georgia  30365

Dear Mr.  Mikulakt

This Office has submitted your agency's  Draft Environmental
Impact  Statement,  North Pinellas.County,  Florida Wastewater
Facilities to state agencies  for review  and evaluation.
Attached are comments from the Departments  of Agriculture
and  Consumer Services, Community Affairs, Natural Resources,
and  State.  We request that you consider their comments
when preparing your final document for this project.

                                Sin
   WOK/jkc

   Attachments
                                   Walter 0.  Kolb
                                   Sr. Governmental Analyst
                                                                                                       <4r. Halter Kolb
                                                                                                       Office of Planning and Budgeting
                                                                                                       Office of the Governor
                                                                                                       The Capitol
                                                                                                       Tallahassee, Florida 32301

                                                                                                       Dear Walt:

                                                                                                       We have reviewed the EIS referral transmitted In your letter
                                                                                                       of April 25, 1985 on 3AI Project »FL 8504231134E, North Pi.iellaa
                                                                                                       County Florida Wastewater Facilities, and arc a.lvisinft you that
                                                                                                       the Division of Forestry has no adverse comment.

                                                                                                       If we can be of further assistance, please give us a call.

                                                                                                                                    Sincerely yours.
                                                                                                                                 George L. Relnert
                                                                                                                                 Chief, FREF Bureau
                                                                                                                                 A88-6591
                      An Affirmative Aclion'Equal Opportunity Employer

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                             STATE OF FLORIDA
                      DEPARTMENT OF
                  COMMUNITY AFFAIRS
          DIVISION OF RESOURCE PLANNING AND MANAGEMENT
BOB GRAHAM
       MEMORANDUM
                                                               JOHN M DcOROVE
Walter  Kolb

Paul  Darst
       TO:

       FROM:
       SIIR.JFCT:   Fl.  85042311 34E, North Pinellas
                  Iv'astewater facilities
       DATE:
                 2  May  1985
            We have  reviewed 'he referenced document and have
       no comment  on  it.
                 BUREAU OF LAND AND WATER MANAGEMENT
             i EXECUTIVE CENTER URI.LE. EAST • TALLAHASSEE. FIDRIDA nw\ • <9W488-4925
                                                                    State of Florida
                                                                    DEPARTMENT OF NATURAL RESOURCES
                                                                    OR ELTON I GISSFSIMNMR
                                                                    E \ecunte Director
                                                                    Minorx Sloncmin Dn.iilax Bmliiinf
                                                                    WtOCummnnwfilth rl->ukiiird. lallj
                                               BOB GRAHAM

                                               GEORGE FIRESTONE
                                                 Snnan nl Suit
                                               JIM SMITH
                                                 Attnrnrv G«n«t«l
                                               GERALD A. LEWIS
                                                 C..mplit>U.r
                                               BILLUUNTER
                                                 Trvuur.r
                                               DOYI.E CONNER
                                                 CnmmiMioncr of Afncultur*
                                               RALPH D. TURLINGTON
                                                 Commtttlcnvr nt Education
                                                                                                                        June 10,  1985
TOi       Halt Kolb, Senior Governmental  Analyst
         Office of Planning and Budgeting

FROM<     Dale Adams
         Executive Staff Directo
                                                                            SUBJECT!  Draft BIS for North PineMas County
                                                                                     wastewater Facilities FL8504231134C
                                                                            Attached are comments on the referenced  Eis, as provided
                                                                            by Frank Courtney of the Bureau of Marine Research.  It
                                                                            should be clearly noted that from the shellfish sanita-
                                                                            tion perspective elimination of discharge is the best
                                                                            alternative.

                                                                            DA/am
                                                                                           DIVISIONS / ADMI!
                                                                                                                  STATfc I.ANRS

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State of Florida
Department  of  Natural Resources^
Interoffice Memorandum
             DATE     :   May  20,  1985

             TO       :   Dale Adams, Administrative Assistant
                         Division of Resource Management

             FROM     :   Frank Courtney y£
                         Pinellas County  Revegetation Coordinator
                         Bureau of Marine Research

             SUBJECT  :   Review EIS -  FL  8504231134E
                         North Pinellas County Wastewater Facilities

             Enclosed please  find my review on the above report.
             Let me know if you need additional  information.
             FXCrmaw
             Enclosure
             cc:   Charles F.  Futch
                  David C.  Heil
                  Karen A.  Steidinger
                  Alan Huff
 Frank Courtney


                    REVIEW EIS - FL 8504231134 E

            North Pinellas County Mastowater Facilitjes


     The EPA Draft EIS report for Wastewater Treatment-Disposal

 Options for northern Pinellas County evaluated five basic waste-

 water disposal options; discharge to nearshore coastal  waters,

 Gulf outfall, land application, deep-well injection and wastewater

 reuse.

     Discharge to coastal waters is the wastowater disposal  option

 currently utilized by the Cities of Clearwatcr (East, Marshall  St.,

 and Northeast Plants), Dunedin and Tarpon Springs.   This method is

 the "least cost" alternative and results in the greatest degree of

 environmental damage due to continued degradion of water quality,

 losses of elements of the estuarine food chain and fisheries  habitat

 declines in commercial and recreational fisheries  yield including

 areas of shellfish harvesting, and restrictions to recreational

 contact.

     The waters of Pinellas County are currently classified as

 Outstanding Florida Waters, the majority of which  are Class  II  and

 as such the discharge of sewage effluent is not permitted.  However,

 the "No Discharge" wasteload allocation established by  DER hast

 yet not been enforced.

    This policy should apply to extension of estuari-,e  outfall  as

well as Gulf outfall.   The r,ulf outfall alternative is  simply an

environmental trade-off,  substituting  degraded  estuarine  water

quality for degraded coastal water quality and  has  been  inadequately
                           -recycled
                                                                                                                      1 of  6

-------
studied wit.!: ro?[juct to the long term effects of continuous



outfill and pp.-veil '. ing south or southwesterly wind conditions.



Furthermore, the Ciulf outfall alternative promotes development



in r^r ii'.nmcntal ly sensitive lands by removing development



constraints and discouraging environmentally preferred alternatives.



     After formulation of North and Central Pinellas 201 wastewater



facilities plans the EPA decided that a finding of "No significant



Impact" could be issued for the Gulf outfall alternative.  Con-



senvently, I do not feel that further consideration should be



given to primary or back-up discharges of secondarily treated



wautewater to surface waters inshore or by Gulf outfall, as these



methods would cause the continued decline of water quality at an



incrr-asinrj rate due to expanding population.



     The DIP for North Pinellas County has identified Reuse as the




"etwironm"ntai ly preferred" alternative for the disposal of 2



treated wauterwator in seven of the eight individual wastewater



treatment plants.  The eighth, the North Pinellas subarea has



been identified as suitable for continued land application at the



Innisbrook Country Club.  (p. 92)  To summarize the EIS   recom-



mendations:  reuse is the only management option that responds to



this region's surface water quality problems while addressing



goundwater supply limitations.  The advantages in wastewater  reuse




include:



     1)  potentially high public accetance,



     2)  reduced  reliance on surface water discharges  (and resultant




         water quality improvements) and






                           2 of 6
       3)  reduced strain on limited public groundwater  suj.plies.



 The disavantages are:



       ai  high cost  (41-48 million dollars beyond surface water



          effluent discharge calculated  for al eight WWTP'S),



       b)  the need for wet-weather back-ups, and



       c)  operability considerations including soil variations and



          the need for maintenance at numerous dispersed sites, and



       d)  amount of wastewater reused is dependent upon private



          decisions and commitments.



       The report goes on to state that although reuse is the



 environmentally preferred alternative,  the "fundabJc- alternative"



 will  be selected following completion of wasteload allocation



 studies for Tampa Bay, Clearwater Harbor - St. Joseph Sound and



 Boca  Ciega Bay.



       The Tampa Bay Regional Planning Council has recently reviewed



 the draft Tampa Bay 205 (j) Wasteload Allocation Studv prepared



 by DER and found this document to be inadequate for making re-



 quired management decisions.   The Florida DER ha,s already permitted



 discharges of secondarily treated effluent to the Anclotc River



 by Tarpon Springs WWTP based on wasteload allocation studies



 of 6 mg/L BOD-,  6 mg/L SS,  6 mg/L total nitrogen,  and 3 mg/L of



total  phosphorus.  These permitted values are in excess of those



allowable for advanced wastewater treatment of 5 mg/L BOD-,



5 mg/L SS,  3 mg/L total nitrogen,  and 1 mg/L total phosphurus.



Presently,  secondary wastewater treatment is defined as removal



of 901! of BOD and suspended solids.
                           3 of 6

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      Safety Harbor and Tarpon Springs NWTP's have been found
in periodic violation of state secondary wastewater treatment
standards and with closer monitoring other plants would be found
at least in temporary violation.
      In light of the unacceptable quality of the Tampa Bay Wasteload
Allocation Study currently under review, it is unlikely that the
Clearwater Harbor - St. Joseph Sound Wasteload Allocation Study
will generate the type of data for EPA to determine "acceptable"
levels for disposal of secondarily treated effluent to these
surface waters.  Likewise it is untenable that DER would consider
it feasible to enforce these levels if they were thought to place
undue economic burden on these WWTP's.  Ke can no longer afford
to sacrifice environmental quality for monetary convenience.
      Deep-well injection is presently being considered for both
primary and back-up effluent disposal in areas where there are
2 geologic confining layers separating deep stata of suitable
transmissivity and storage capacity from the Florida Aquifer and
the ground water table. The. depth of this confining layer has been .
found to be less that SO ft in the EIS Study Area, with the exception
of the southwest portion {Clearwater Marshall St. WWTP).  South
of the Study Area, the depth of the confining layer exceeds 50 feet.
This layer of impervious clay is occasionally perforated by
fractures.
      p. 82 "With the stipulation that deep-well injection only
be permitted where a confining layer of at least 50 feet is present,
impacts of injected wastewater on potable water supplies would
                       Page 4 of 6
not be felt for many years, assuming the wastewator is not
transported through any confining layer fractures.   Even if
pressure is available to push injected wastewater toward a
potable supply, approximately 480 years would be required to push
the wastewater through 50 feet of an unfractured confining layer,
assuming the vertical hydraulic conductivity of the confining
layer is 10   centimeters per second (which is typical for claylike
formations)."
      In this case EIS report implies that the danger of polluting
the Floridan aquifer which has already been impacted due to draw-
downs from excessive pumping  and corresponding saltwater intrusion
at a rate of 0.3 to 0.4 ft per year is simply a matter of time.
While several generations may not feel the impact of such a decision
we can not responsibly live with such a legacy.  Thus, deep-well
injection should be considered experimental and only utilized on
an experimental trial basis.  28-month monitoring periods for
deep-well testing using limited volumes  of effluent  (3.5 MGD)
will not adequately address the environmental effects of this
alternative.
      Lastly, the area east of Lake Tarpon has been identified
as environmentally sensitive due to very critical solids, low
lying wetlands and floodplains which allow extensive groundwater
recharge.  Approximately 33% of this area is the Booker Creek
drainage  basin.  For this reason neither land application or
wastewater reuse should bo considered.  The most environmentally
attractive alternative for this largely undeveloped area would
                                                                                                            Paoe 5 of 6

-------
 DNR-1
 DNR-2
be  to  transport wastewater from this area  to  the Clearwater
Northeast  NWTP.  This should also be considered for the Oldsmar
WWTP as  periodic dike failures of evaporation-percolation ponds
have found their way to Mobbly Bay.
       Although this is just a draft report  it appears that the
primary  concern of the EPA is the cost of the environmentally
preferred  alternative rather than the continued health, safety
and quality of life available to the residents of the North
Pinellas Region.   The EPA,  DER and DNR should collaborate to
ensure the continued improvement of coastal, fresh and groundwater
supplies.   I would recommend that available federal funding be
applied  to the most environmentally sound alternative.
DNR-1.        The Draft EIS presents costB. environmental impacts and
         operation and implementation factors  for all  alternatives which
         were considered.  The EIS has identified the  environmentally
         preferred alternative and upon availability of approved wasteload
         allocations, EPA can select the noat  cost effective environmentally
         sound alternative.
DNR-2.    Comment noted.
on
        Frank Courtney/maw
        May 20, 1985
                                   Page 6 of 6

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                    FLORIDA DEPARTMENTOFSTATE
                           George Firestone
                             Secretary* Slur
                          DIVISION OF ARCHIVES,
                    HISTORY AMD RECORDS MANAGEMENT
                   The Capitol. Tallahassee. Florida 32301-8020
                             (904)488-1480
June 6, 1985
                                            In  Reply  Refer  to:

                                            Mike Wisenbaker
                                            Historic  Site*  Specialist
                                            (904)  487-2333
Mr. Walter Kolb
Office of the Governor
The Capitol
Tallahassee, Florida  32301

RE:  Your Memorandum of April 25,  1985
     Cultural Resource Assessment  Request
     SAI NO. FL8504231134'*sEnvironmental Impact Statement,
     North Pinellas County Florida Wastewater  Facilities

Dear Mr. Kolb:

     In accordance with the procedures contained  in  36  C.F.R.,  Part
800 ("Procedures for the Protection of Cultural and  Historic Proper-
ties"), we have reviewed the above referenced  project for possible
impact to archaeological and historical sites  and properties listed,
or eligible for listing in the National Register  of  Historic Places.
The authorities for these procedures are the National Historic
Preservation Act of 1966 (Public Law 89-665) as amended by  P.L.
91-243, P.L. 93-54, P.L. 94-422, P.L. 94-458 and  P.L. 96-515,.and
Presidential Executive Order 11593 ("Protection and  Enhancement  of
the Cultural Environment").

     A review of the Florida Master Site File  and the National  Register
of Historic Places indicates the presence of 60 recorded sites within
tKe North Pinellas Service area, with four  of  these  60  sites being
listed in the National Register of Historic Places.

     For this reason, we concur with the information contained  in the
EIS that interceptor lines, pump stations and  spray  irrigation  fields
may impact significant culture resources in this  area.
                      FUORIDA-State of the Arts
                                                                                     Mr.  Ualter Xolb
                                                                                     June 6, 1985
                                                                                     Page Two
     Therefore, it is our recommendation that this office be  provided
copies of any final plans and/or alternatives plans so  that we  can
assess the effects these projects will have on cultural  resources  in
the project area.

     If you have any questions concerning our comments,  please  do
not hesitate to contact us.

     your interest and cooperation in helping to protect Florida's
archaeological and historical resources are appreciated.

                                Sincerely,
                                                                                    GWP/Wkp
                                                                                                                            W.  Percy
                                                                                                                     State Historic
                                                                                                                     Preservation Officer

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    CHAPTER V




LIST OF PREPARERS

-------
                                   CHAPTER V
                             LIST OF EIS PREPARERS
                               PROJECT PERSONNEL
U.S. ENVIRONMENTAL PROTECTION AGENCY

Robert B. Howard
F. Theodore Bisterfeld

Ronald J. Mikulak

Philip Vorsatz
Artie Buff
Eugene Coker
Chief, NEPA Compliance Section
EPA Project Officer, June 1979 -
  November 1983
EPA Project Officer, November 1983 -
  Present
North Pinellas 201, Project Engineer
Central Pinellas 201, Project Engineer
Engineer, Water Supply Branch
GANNETT FLEMING CORDDRY AND CARPENTER, INC.
Thomas M. Rachford, P.E., Ph.D.
Laurence E. Benander, P.E.
David B. Babcock, P.E.
James R. Fuller
John W. Jacobs
Amy E. Lucas
P.  Andre DeGeorges
W.  Peter Wickwire,  P.E.
Senior Project Manager
Project Manager
Assistant Project Manager
Engineer
Soils Scientist
Environmental Scientist
Environmental Scientist
Engineer
 CTA ENVIRONMENTAL,  INC.
 Claude E.  Terry,  Ph.D.
 R.  Gregory Bourne
 Craig H.  Wolfgang
 Thomas C.  Mather
 James C.  Hodges
 President
 Project Manager
 Environmental Planner
 Environmental Scientist
 Environmental Scientist
 PINELLAS COUNTY PARK DEPARTMENT
 Cover Photo of Brooker Creek Park Courtesy of the Department,
                                       121

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