Notice of a Project Waiver of Section 1605 (Buy American Requirement) of the American Recovery and Reinvestment Act of 2009 (ARRA) to the Applicant of Adair, OK, 11644-11645 [2013-03599]
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Federal Register / Vol. 78, No. 33 / Tuesday, February 19, 2013 / Notices
due to the fact that this ICR uses
updated labor rates from the Bureau of
Labor Statistics to calculate respondent
burden costs.
There is an increase in the respondent
burden and cost associated with State
and local agencies. This increase is due
to an adjustment in the labor burden
calculations. The previous ICR assumed
that, for each burden item, person-hours
per occurrence included technical,
managerial, and clerical labor hours. To
be consistent with the estimation
methodology used in other ICRs, this
ICR assumes that person-hours per
occurrence includes technical labor
only, and that managerial and clerical
hours account for an additional 5 and 10
percent, respectively, of technical labor
hours. This adjustment increased the
State and local agency burden hours and
costs.
There is a decrease in the Federal
Agency burden due to adjustments in
the labor burden calculations. The
previous ICR included a burden item for
Agency review of surface methane
monitoring reports. Respondents,
however, are not required to submit
reports; therefore, no Agency burden
will be incurred. For this reason we
have adjusted the calculations to
exclude any Agency burden associated
with surface methane monitoring. We
have also adjusted the total labor burden
attributed to EPA technical, managerial,
and clerical labor. As described in the
previous paragraph, we adjusted the
calculations for consistency with other
ICRs, and so that managerial and
clerical hours account for an additional
5 and 10 percent, respectively, of
technical labor hours. The net result of
these adjustments was a decrease in
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There is also a decrease in O&M costs
from the most recently approved ICR.
This decrease is not due to any program
changes, and is attributed to the
decrease in the number of respondents
due to landfill closures that have
occurred since the previous ICR was
approved. As a result, there is a
proportional decrease in the O&M cost.
TKELLEY on DSK3SPTVN1PROD with NOTICES
John Moses,
Director, Collection Strategies Division.
[FR Doc. 2013–03742 Filed 2–15–13; 8:45 am]
BILLING CODE 6560–50–P
VerDate Mar<15>2010
17:49 Feb 15, 2013
Jkt 229001
ENVIRONMENTAL PROTECTION
AGENCY
[FRL–9780–1]
Notice of a Project Waiver of Section
1605 (Buy American Requirement) of
the American Recovery and
Reinvestment Act of 2009 (ARRA) to
the Applicant of Adair, OK
Environmental Protection
Agency (EPA).
ACTION: Notice.
AGENCY:
The Regional Administrator
of EPA Region 6 is hereby granting a
project waiver of the Buy American
requirements of ARRA Section 1605
under the authority of Section
1605(b)(2) [manufactured goods are not
produced in the United States in
sufficient and reasonably available
quantities and of a satisfactory quality]
to the Oklahoma Conservation
Commission (‘‘the applicant’’) for the for
2,400 square yards of fiber (coir) woven
mats to be installed as part of a stream
channel restoration on eleven sites
located in Adair and Cherokee Counties,
Oklahoma for the CWSRF wastewater
treatment plant project. The required
fiber (coir) woven mat is manufactured
by foreign manufacturers and no United
States manufacturer produces an
alternative that meets the Applicant’s
technical specifications. This is a
project specific waiver and only applies
to the use of the specified product for
the ARRA funded project being
proposed. Any other ARRA project that
may wish to use the same product must
apply for a separate waiver based on the
specific project circumstances. The
Regional Administrator is making this
determination based on the review and
recommendations of the EPA Region 6,
Water Quality Protection Division. The
Applicant has provided sufficient
documentation to support its request.
The Assistant Administrator of the
EPA’s Office of Administration and
Resources Management has concurred
on this decision to make an exception
to Section 1605 of ARRA. This action
permits the purchase of the selected
fiber (coir) woven mat is not
manufactured in America, for the
proposed project being implemented by
the Applicant.
DATES: Effective Date: January 17, 2013.
FOR FURTHER INFORMATION CONTACT:
Nasim Jahan, Buy American
Coordinator, (214) 665–7522, SRF &
Projects Section, Water Quality
Protection Division, U.S. EPA, Region 6,
1445 Ross Avenue, Dallas, Texas 75202–
2733.
SUMMARY:
PO 00000
Frm 00023
Fmt 4703
Sfmt 4703
In
accordance with ARRA Section 1605(c)
and 1605(b)(2), EPA hereby provides
notice that it is granting a project waiver
of the requirements of Section 1605(a) of
Public Law 111–5, Buy American
requirements, to the Applicant for the
acquisition of selected made fiber (coir)
woven mat. The Applicant has been
unable to find American made fiber
(coir) woven mat to meet its specific
wastewater requirements.
Section 1605 of ARRA requires that
none of the appropriated funds may be
used for the construction, alteration,
maintenance, or repair of a public
building or public work unless all of the
iron, steel, and manufactured goods
used in the project are produced in the
United States unless a waiver is
provided to the recipient by EPA. A
waiver may be provided if EPA
determines that: (1) Applying these
requirements would be inconsistent
with public interest; (2) iron, steel, and
the relevant manufactured goods are not
produced in the United States in
sufficient and reasonably available
quantities and of a satisfactory quality;
or (3) inclusion of iron, steel, and the
relevant manufactured goods produced
in the United States will increase the
cost of the overall project by more than
25 percent.
The Applicant has requested a waiver
for fiber (coir) woven mats to be
installed as part of a stream channel
restoration on eleven sites located in
Adair and Cherokee Counties,
Oklahoma. The applicant claims that
the product required to meet project
design and performance specification
requirements is not manufactured in the
United States.
Restoration of stream banks in the
Illinois River Watershed within Adair
and Cherokee counties of northeastern
Oklahoma requires installation requires
a fiber (coir) woven mat to stabilize soil
and overcome the high shear stress
found in a stream environment.
Additional key requirements of the
project dictate a product that is 100
percent biodegradable and has a
functional lifespan of two to three years.
The project specification criteria are
listed below:
SUPPLEMENTARY INFORMATION:
Property
Weight (ASTM D 5263) .......
Tensile Strength Dry (ASTM
D 4595):
Machine Direction ............
Cross direction .................
Tensile Strength Wet
(ASTM D 4595):
Machine Direction ............
Cross direction .................
Open area ...........................
E:\FR\FM\19FEN1.SGM
19FEN1
Specification
23 oz/SY
1740 lbs/ft
1176 lbs/ft
1488 lbs/ft
1032 lbs/ft
48%
Federal Register / Vol. 78, No. 33 / Tuesday, February 19, 2013 / Notices
Property
TKELLEY on DSK3SPTVN1PROD with NOTICES
Thickness (ASTM D 5199) ..
Recommended slope ..........
Recommended flow .............
Recommended shear stress
‘‘C’’ factor .............................
Roll Size ..............................
Functional Longevity ...........
Specification
0.35 inch
> 1:1
12 fps
4.5 lbs/ft2
0.002
6.5′ x 164′
2 to 3 Yrs.
Based on additional research
conducted by EPA Region 6 there do not
appear to be any American-made fiber
(coir) woven mat that would meet the
Applicant’s technical specifications.
EPA’s national contractor prepared a
technical assessment report based on
the waiver request submittal, which
confirmed the waiver applicant’s claim
that there is no American-made fiber
(coir) woven mat available for use in the
proposed waste water treatment system.
EPA has also evaluated the
Applicant’s request to determine if its
submission is considered late or if it
could be considered timely, as per the
OMB regulation at 2 CFR § 176.120. EPA
will generally regard waiver requests
with respect to components that were
specified in the bid solicitation or in a
general/primary construction contract as
‘‘late’’ if submitted after the contract
date. However, EPA could also
determine that a request be evaluated as
timely, though made after the date that
the contract was signed, if the need for
a waiver was not reasonably foreseeable.
If the need for a waiver is reasonably
foreseeable, then EPA could still apply
discretion in these late cases as per the
OMB Guidance, which says ‘‘the award
official may deny the request.’’ For
those waiver requests that do not have
a reasonably unforeseeable basis for
lateness, but for which the waiver basis
is valid and there is no apparent gain by
the ARRA recipient or loss on behalf of
the government, then EPA will still
consider granting a waiver.
In this case this ‘‘shovel ready’’
project experienced significant delays
during the preliminary design.
Originally, the Oklahoma Conservation
Commission contracted with the
Oklahoma Department of Wildlife
Resources (ODWR) to evaluate potential
sites and to perform preliminary design
and cost estimates to assess feasibility of
including sites in this project. The
intent was to hire a design/build team
to perform the work. The ODWR had
two leading experts in stream
restoration who were assigned to this
project. Some months into the project,
both experts left ODWR to employment
elsewhere. After months of trying to
replace them, ODWR were unable to
execute the project.
VerDate Mar<15>2010
17:49 Feb 15, 2013
Jkt 229001
Oklahoma Conservation Commission
then contracted with Oklahoma State
University to evaluate and select sites
for the project. After months of work
and careful coordination with
Oklahoma Department of Environmental
Quality and U.S. Army Corps of
Engineers, Oklahoma State University
identified 12 sites that should be able to
qualify for nationwide 404 permits and
might reasonably be restored within the
project budget.
The contract was awarded in Dec
2011 and site-specific design began in
early 2012. Once designs were available
and it was realized that coir fiber mats
would be needed, Oklahoma Water
Resources Board instructed the
applicant to apply for a waiver request.
EPA believes that the need for a waiver
was not reasonably foreseeable and thus
will treat the Applicant’s waiver request
as if timely submitted.
The April 28, 2009, EPA HQ
Memorandum, Implementation of Buy
American provisions of Public Law
111–5, the ‘‘American Recovery and
Reinvestment Act of 2009,’’ defines
reasonably available quantity as ‘‘the
quantity of iron, steel, or relevant
manufactured good is available or will
be available at the time needed and
place needed, and in the proper form or
specification as specified in the project
plans and design.’’ The Applicant has
incorporated specific technical design
requirements for installation of fiber
(coir) woven mat at its wastewater
treatment plant.
The purpose of the ARRA is to
stimulate economic recovery in part by
funding current infrastructure
construction, not to delay projects that
are ‘‘shovel ready’’ by requiring utilities,
such as the Applicant, to revise their
standards and specifications, institute a
new bidding process, and potentially
choose a more costly, less efficient
project. The imposition of ARRA Buy
American requirements on such projects
otherwise eligible for State Revolving
Fund assistance would result in
unreasonable delay and thus displace
the ‘‘shovel ready’’ status for this
project. To further delay construction is
in direct conflict with a fundamental
economic purpose of the ARRA, which
is to create or retain jobs.
The Region 6 Water Quality
Protection Division has reviewed this
waiver request, and has determined that
the supporting documentation provided
by the Applicant is sufficient to meet
the criteria listed under ARRA, Section
1605(b), Office of Management and
Budget (OMB) regulations at 2 CFR
176.60–176.170, and in the April 28,
2009, memorandum, ‘‘Implementation
of Buy American provisions of Public
PO 00000
Frm 00024
Fmt 4703
Sfmt 4703
11645
Law 111–5, the American Recovery and
Reinvestment Act of 2009.’’ The basis
for this project waiver is the
authorization provided in ARRA,
Section 1605(b)(2). Due to the lack of
production of this product in the United
States in sufficient and reasonably
available quantities and of a satisfactory
quality in order to meet the Applicant’s
technical specifications, a waiver from
the Buy American requirement is
justified.
EPA headquarters’ March 31, 2009
Delegation of Authority Memorandum
provided Regional Administrators with
the authority to issue exceptions to
Section 1605 of ARRA within the
geographic boundaries of their
respective regions and with respect to
requests by individual grant recipients.
Having established both a proper basis
to specify the particular goods required
for this project, and that these
manufactured goods are not available
from a producer in the United States,
the Applicant is hereby granted a waiver
from the Buy American requirements of
ARRA, Section 1605(a) of Public Law
111–5 for the purchase of the selected
fiber (coir) woven mat, using ARRA
funds, as specified in the Applicant’s
request. This supplementary
information constitutes the detailed
written justification required by ARRA,
Section 1605(c), for waivers ‘‘based on
a finding under subsection (b).’’
Authority: Pub. L. 111–5, section 1605.
Dated: January 17, 2013.
Ron Curry,
Regional Administrator, U.S. Environmental
Protection Agency, Region 6.
[FR Doc. 2013–03599 Filed 2–15–13; 8:45 am]
BILLING CODE 6560–50–P
EXPORT-IMPORT BANK OF THE
UNITED STATES
[Public Notice 2013–0115]
Agency Information Collection
Activities: Final Collection; Comment
Request
Export-Import Bank of the
United States.
ACTION: Submission for OMB Review
and Comments Request.
AGENCY:
The Export-Import Bank of
the United States (Ex-Im Bank), as a part
of its continuing effort to reduce
paperwork and respondent burden,
invites the general public and other
Federal Agencies to comment on the
proposed information collection, as
required by the Paperwork Reduction
Act of 1995.
SUMMARY:
E:\FR\FM\19FEN1.SGM
19FEN1
Agencies
[Federal Register Volume 78, Number 33 (Tuesday, February 19, 2013)]
[Notices]
[Pages 11644-11645]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 2013-03599]
-----------------------------------------------------------------------
ENVIRONMENTAL PROTECTION AGENCY
[FRL-9780-1]
Notice of a Project Waiver of Section 1605 (Buy American
Requirement) of the American Recovery and Reinvestment Act of 2009
(ARRA) to the Applicant of Adair, OK
AGENCY: Environmental Protection Agency (EPA).
ACTION: Notice.
-----------------------------------------------------------------------
SUMMARY: The Regional Administrator of EPA Region 6 is hereby granting
a project waiver of the Buy American requirements of ARRA Section 1605
under the authority of Section 1605(b)(2) [manufactured goods are not
produced in the United States in sufficient and reasonably available
quantities and of a satisfactory quality] to the Oklahoma Conservation
Commission (``the applicant'') for the for 2,400 square yards of fiber
(coir) woven mats to be installed as part of a stream channel
restoration on eleven sites located in Adair and Cherokee Counties,
Oklahoma for the CWSRF wastewater treatment plant project. The required
fiber (coir) woven mat is manufactured by foreign manufacturers and no
United States manufacturer produces an alternative that meets the
Applicant's technical specifications. This is a project specific waiver
and only applies to the use of the specified product for the ARRA
funded project being proposed. Any other ARRA project that may wish to
use the same product must apply for a separate waiver based on the
specific project circumstances. The Regional Administrator is making
this determination based on the review and recommendations of the EPA
Region 6, Water Quality Protection Division. The Applicant has provided
sufficient documentation to support its request.
The Assistant Administrator of the EPA's Office of Administration
and Resources Management has concurred on this decision to make an
exception to Section 1605 of ARRA. This action permits the purchase of
the selected fiber (coir) woven mat is not manufactured in America, for
the proposed project being implemented by the Applicant.
DATES: Effective Date: January 17, 2013.
FOR FURTHER INFORMATION CONTACT: Nasim Jahan, Buy American Coordinator,
(214) 665-7522, SRF & Projects Section, Water Quality Protection
Division, U.S. EPA, Region 6, 1445 Ross Avenue, Dallas, Texas 75202-
2733.
SUPPLEMENTARY INFORMATION: In accordance with ARRA Section 1605(c) and
1605(b)(2), EPA hereby provides notice that it is granting a project
waiver of the requirements of Section 1605(a) of Public Law 111-5, Buy
American requirements, to the Applicant for the acquisition of selected
made fiber (coir) woven mat. The Applicant has been unable to find
American made fiber (coir) woven mat to meet its specific wastewater
requirements.
Section 1605 of ARRA requires that none of the appropriated funds
may be used for the construction, alteration, maintenance, or repair of
a public building or public work unless all of the iron, steel, and
manufactured goods used in the project are produced in the United
States unless a waiver is provided to the recipient by EPA. A waiver
may be provided if EPA determines that: (1) Applying these requirements
would be inconsistent with public interest; (2) iron, steel, and the
relevant manufactured goods are not produced in the United States in
sufficient and reasonably available quantities and of a satisfactory
quality; or (3) inclusion of iron, steel, and the relevant manufactured
goods produced in the United States will increase the cost of the
overall project by more than 25 percent.
The Applicant has requested a waiver for fiber (coir) woven mats to
be installed as part of a stream channel restoration on eleven sites
located in Adair and Cherokee Counties, Oklahoma. The applicant claims
that the product required to meet project design and performance
specification requirements is not manufactured in the United States.
Restoration of stream banks in the Illinois River Watershed within
Adair and Cherokee counties of northeastern Oklahoma requires
installation requires a fiber (coir) woven mat to stabilize soil and
overcome the high shear stress found in a stream environment.
Additional key requirements of the project dictate a product that is
100 percent biodegradable and has a functional lifespan of two to three
years. The project specification criteria are listed below:
------------------------------------------------------------------------
Property Specification
------------------------------------------------------------------------
Weight (ASTM D 5263).................... 23 oz/SY
Tensile Strength Dry (ASTM D 4595):
Machine Direction..................... 1740 lbs/ft
Cross direction....................... 1176 lbs/ft
Tensile Strength Wet (ASTM D 4595):
Machine Direction..................... 1488 lbs/ft
Cross direction....................... 1032 lbs/ft
Open area............................... 48%
[[Page 11645]]
Thickness (ASTM D 5199)................. 0.35 inch
Recommended slope....................... > 1:1
Recommended flow........................ 12 fps
Recommended shear stress................ 4.5 lbs/ft\2\
``C'' factor............................ 0.002
Roll Size............................... 6.5' x 164'
Functional Longevity.................... 2 to 3 Yrs.
------------------------------------------------------------------------
Based on additional research conducted by EPA Region 6 there do not
appear to be any American-made fiber (coir) woven mat that would meet
the Applicant's technical specifications. EPA's national contractor
prepared a technical assessment report based on the waiver request
submittal, which confirmed the waiver applicant's claim that there is
no American-made fiber (coir) woven mat available for use in the
proposed waste water treatment system.
EPA has also evaluated the Applicant's request to determine if its
submission is considered late or if it could be considered timely, as
per the OMB regulation at 2 CFR Sec. 176.120. EPA will generally
regard waiver requests with respect to components that were specified
in the bid solicitation or in a general/primary construction contract
as ``late'' if submitted after the contract date. However, EPA could
also determine that a request be evaluated as timely, though made after
the date that the contract was signed, if the need for a waiver was not
reasonably foreseeable. If the need for a waiver is reasonably
foreseeable, then EPA could still apply discretion in these late cases
as per the OMB Guidance, which says ``the award official may deny the
request.'' For those waiver requests that do not have a reasonably
unforeseeable basis for lateness, but for which the waiver basis is
valid and there is no apparent gain by the ARRA recipient or loss on
behalf of the government, then EPA will still consider granting a
waiver.
In this case this ``shovel ready'' project experienced significant
delays during the preliminary design. Originally, the Oklahoma
Conservation Commission contracted with the Oklahoma Department of
Wildlife Resources (ODWR) to evaluate potential sites and to perform
preliminary design and cost estimates to assess feasibility of
including sites in this project. The intent was to hire a design/build
team to perform the work. The ODWR had two leading experts in stream
restoration who were assigned to this project. Some months into the
project, both experts left ODWR to employment elsewhere. After months
of trying to replace them, ODWR were unable to execute the project.
Oklahoma Conservation Commission then contracted with Oklahoma
State University to evaluate and select sites for the project. After
months of work and careful coordination with Oklahoma Department of
Environmental Quality and U.S. Army Corps of Engineers, Oklahoma State
University identified 12 sites that should be able to qualify for
nationwide 404 permits and might reasonably be restored within the
project budget.
The contract was awarded in Dec 2011 and site-specific design began
in early 2012. Once designs were available and it was realized that
coir fiber mats would be needed, Oklahoma Water Resources Board
instructed the applicant to apply for a waiver request. EPA believes
that the need for a waiver was not reasonably foreseeable and thus will
treat the Applicant's waiver request as if timely submitted.
The April 28, 2009, EPA HQ Memorandum, Implementation of Buy
American provisions of Public Law 111-5, the ``American Recovery and
Reinvestment Act of 2009,'' defines reasonably available quantity as
``the quantity of iron, steel, or relevant manufactured good is
available or will be available at the time needed and place needed, and
in the proper form or specification as specified in the project plans
and design.'' The Applicant has incorporated specific technical design
requirements for installation of fiber (coir) woven mat at its
wastewater treatment plant.
The purpose of the ARRA is to stimulate economic recovery in part
by funding current infrastructure construction, not to delay projects
that are ``shovel ready'' by requiring utilities, such as the
Applicant, to revise their standards and specifications, institute a
new bidding process, and potentially choose a more costly, less
efficient project. The imposition of ARRA Buy American requirements on
such projects otherwise eligible for State Revolving Fund assistance
would result in unreasonable delay and thus displace the ``shovel
ready'' status for this project. To further delay construction is in
direct conflict with a fundamental economic purpose of the ARRA, which
is to create or retain jobs.
The Region 6 Water Quality Protection Division has reviewed this
waiver request, and has determined that the supporting documentation
provided by the Applicant is sufficient to meet the criteria listed
under ARRA, Section 1605(b), Office of Management and Budget (OMB)
regulations at 2 CFR 176.60-176.170, and in the April 28, 2009,
memorandum, ``Implementation of Buy American provisions of Public Law
111-5, the American Recovery and Reinvestment Act of 2009.'' The basis
for this project waiver is the authorization provided in ARRA, Section
1605(b)(2). Due to the lack of production of this product in the United
States in sufficient and reasonably available quantities and of a
satisfactory quality in order to meet the Applicant's technical
specifications, a waiver from the Buy American requirement is
justified.
EPA headquarters' March 31, 2009 Delegation of Authority Memorandum
provided Regional Administrators with the authority to issue exceptions
to Section 1605 of ARRA within the geographic boundaries of their
respective regions and with respect to requests by individual grant
recipients. Having established both a proper basis to specify the
particular goods required for this project, and that these manufactured
goods are not available from a producer in the United States, the
Applicant is hereby granted a waiver from the Buy American requirements
of ARRA, Section 1605(a) of Public Law 111-5 for the purchase of the
selected fiber (coir) woven mat, using ARRA funds, as specified in the
Applicant's request. This supplementary information constitutes the
detailed written justification required by ARRA, Section 1605(c), for
waivers ``based on a finding under subsection (b).''
Authority: Pub. L. 111-5, section 1605.
Dated: January 17, 2013.
Ron Curry,
Regional Administrator, U.S. Environmental Protection Agency, Region 6.
[FR Doc. 2013-03599 Filed 2-15-13; 8:45 am]
BILLING CODE 6560-50-P