Record of Decision and Floodplain Statement of Findings for the Lake Charles Carbon Capture and Sequestration Project, 1854-1861 [2014-00299]
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that, effective March 12, 2009, it
changed its legal name to NextEra
Energy Power Marketing, LLC.
Accordingly, on March 26, 2009, DOE
issued Order No. EA–348–A, in which
it amended the original order by
changing the name of the authorized
exporter to NEPM. All other terms and
conditions of Order No. EA–348
remained unchanged.
On December 20, 2013, NEPM filed an
application with DOE for renewal of the
export authority contained in Order No.
EA–348–A for an additional five-year
term. Specifically, NEPM states that it
seeks renewal, as a power marketer, to
export electricity through existing
Canadian border facilities.
NEPM states that it does not own,
operate, or control any physical assets
such as electric generating or
transmission facilities, and it does not
have a franchised service area. The
electric energy that NEPM proposes to
export to Canada would be surplus
energy purchased from electric utilities
and other suppliers within the United
States.
The existing international
transmission facilities to be utilized by
NEPM have previously been authorized
by Presidential permits issued pursuant
to Executive Order 10485, as amended,
and are appropriate for open access
transmission by third parties.
Procedural Matters: Any person
desiring to be heard in this proceeding
should file a comment or protest to the
application at the address provided
above. Protests should be filed in
accordance with Rule 211 of the Federal
Energy Regulatory Commission’s (FERC)
Rules of Practice and Procedures (18
CFR 385.211). Any person desiring to
become a party to these proceedings
should file a motion to intervene at the
above address in accordance with FERC
Rule 214 (18 CFR 385.214). Five copies
of such comments, protests, or motions
to intervene should be sent to the
address provided above on or before the
date listed above.
Comments on the NEPM application
to export electric energy to Canada
should be clearly marked with OE
Docket No. EA–348–B. An additional
copy is to be provided directly to both
Marty Jo Rogers, Senior Counsel,
NextEra Energy Power Marketing, LLC,
601 Travis Street, Suite 1910, Houston,
TX 77002, and Gunnar Birgisson, Senior
Attorney, NextEra Energy, 801
Pennsylvania Ave. NW., Washington,
DC 20004. A final decision will be made
on this application after the
environmental impacts have been
evaluated pursuant to DOE’s National
Environmental Policy Act Implementing
Procedures (10 CFR part 1021) and after
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a determination is made by DOE that the
proposed action will not have an
adverse impact on the sufficiency of
supply or reliability of the U.S. electric
power supply system.
Copies of this application will be
made available, upon request, for public
inspection and copying at the address
provided above, by accessing the
program Web site at https://energy.gov/
node/11845, or by emailing Angela Troy
at Angela.Troy@hq.doe.gov.
Issued in Washington, DC, on January 6,
2014.
Brian Mills,
Director, Permitting and Siting, Office of
Electricity Delivery and Energy Reliability.
[FR Doc. 2014–00316 Filed 1–9–14; 8:45 am]
BILLING CODE 6450–01–P
DEPARTMENT OF ENERGY
Record of Decision and Floodplain
Statement of Findings for the Lake
Charles Carbon Capture and
Sequestration Project
Department of Energy.
Record of Decision.
AGENCY:
ACTION:
The U.S. Department of
Energy (DOE) announces its decision to
provide cost-shared funding to Leucadia
Energy, LLC (Leucadia) for its Lake
Charles Carbon Capture and
Sequestration project (Lake Charles CCS
project) under DOE’s Industrial Carbon
Capture Sequestration (ICCS) Program.
DOE prepared an environmental impact
statement (EIS) to evaluate the potential
environmental impacts associated with
DOE’s proposed action of providing
financial assistance to the Lake Charles
CCS project. The EIS evaluated the
impacts associated with construction
and operation of the proposed project
and Leucadia’s Gasification Plant,
which is a connected action. DOE’s
proposed action is to provide financial
assistance through a cooperative
agreement with Leucadia to capture
carbon dioxide (CO2) from the
Gasification Plant and transport the CO2
via pipelines to the West Hastings oil
field, for use in existing, commercial
enhanced oil recovery (EOR). The West
Hastings research monitoring,
verification, and accounting (MVA)
program will provide an accurate
accounting of approximately 1 million
tons of stored CO2.
ADDRESSES: The EIS and this Record of
Decision (ROD) are available on DOE’s
Web sites (www.energy.gov/nepa/or
www.netl.doe.gov/publications/others/
nepa/). Copies of these
documents may also be obtained by
contacting Ms. Pierina Fayish, M/S 922–
SUMMARY:
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342C, U.S. Department of Energy,
National Energy Technology Laboratory,
P.O. Box 10940, Pittsburgh, PA 15236;
telephone: 412–386–5428; or email:
pierina.fayish@netl.doe.gov.
FOR FURTHER INFORMATION CONTACT: To
obtain additional information about the
project or the EIS, contact Ms. Pierina
Fayish at the address provided above.
For general information on DOE’s NEPA
process, contact Ms. Carol M.
Borgstrom, Director, Office of NEPA
Policy and Compliance (GC–54), U.S.
Department of Energy, 1000
Independence Avenue SW., Washington
DC 20585; telephone: 202–586–4600; or
toll free at 1–800–472–2756.
SUPPLEMENTARY INFORMATION: DOE
prepared this ROD pursuant to the
National Environmental Policy Act
(NEPA) of 1969 (42 United States Code
[U.S.C.] 4321 et seq.), and in compliance
with the Council on Environmental
Quality (CEQ) implementing regulations
for NEPA (40 Code of Federal
Regulations [CFR] 1500 through 1508),
DOE’s NEPA implementing procedures
(10 CFR Part 1021) and DOE’s
Compliance with Floodplain and
Wetland Environmental Review
regulations (10 CFR Part 1022). This
ROD is based on DOE’s EIS for the Lake
Charles CCS Project (DOE/EIS–0464,
November 2013) and other program
considerations.
Purpose and Need for Agency Action
The purpose and need for DOE action
is to advance the ICCS program by
providing financial assistance to
projects that have the best chance of
achieving the program’s objectives as
established by Congress: Demonstrating
the next generation of technologies that
will capture CO2 from industrial sources
and either sequester or beneficially use
it. The proposed project was selected
under the ICCS program as one of a
portfolio of projects that DOE
determined were the most appropriate
ones to achieve programmatic objectives
and meet legislative requirements.
This proposed project would help the
ICCS Program meet its congressionally
mandated mission of large-scale testing
of CO2 sequestration systems. The
project would demonstrate the use of
advanced technologies to capture CO2
from an industrial source and sequester
it as part of an EOR operation. The
project would also provide information
on the cost and feasibility of deploying
sequestration technologies. A successful
demonstration of the Rectisol®-based
carbon-capture technology with
beneficial use of the CO2 at an existing
oil field would also generate technical,
environmental, and financial data
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regarding the design, construction, and
operation of a CO2 capture facility,
pipeline, and CO2 monitoring at the oil
field. These data would be used to
evaluate whether these technologies
could be effectively implemented at a
commercial scale.
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DOE’s Proposed Action
DOE’s proposed action is to provide
$261.4 million in cost-shared funding
through a cooperative agreement with
Leucadia for its proposed project. DOE
has already provided $13.9 million to
Leucadia for preliminary design and
related activities. The estimated total
cost of the Lake Charles CCS project is
$435.6 million.
Project Description and Location
The Lake Charles CCS project would
result in the construction and operation
of a Rectisol®-based facility to capture at
least 75 percent of the CO2 from the
treated stream which would otherwise
be released to the atmosphere from the
Gasification Plant. The CCS project
includes:
(1) CO2 Capture and Compression—
Two Lurgi Rectisol® Acid Gas Removal
(AGR) units and two compressors would
pressurize the CO2 to 2,250 pounds per
square inch gauge (psig) for transport
and geologic sequestration. The project
would be designed to capture
approximately 89 percent of the CO2
produced from the Gasification Plant.
Over the 30-year expected life,
approximately 4.6 million tons of CO2
per year would be captured, on average.
(2) CO2 Pipeline—A new pipeline,
approximately 16 inches in diameter,
would carry the captured CO2
approximately 11.9 miles and connect
to the existing Green Pipeline, which
extends across Louisiana into Texas.
(3) Research Monitoring Program—
Denbury Onshore, LLC (Denbury) and
the Texas Bureau of Economic Geology
(BEG) would jointly implement the
West Hastings research monitoring,
verification, and accounting (MVA)
program aimed at providing an accurate
accounting of approximately 1 million
tons of stored CO2, and a high level of
confidence that the CO2 injected in the
oilfield during existing EOR operations
will remain permanently sequestered.
The West Hastings research MVA
activities would supplement Denbury’s
ongoing commercial monitoring
activities and regulatory requirements
performed for commercial CO2 EOR and
would provide additional information
regarding the underground movement
and confinement of CO2.
In the context of NEPA, connected
actions are actions dependent on the
proposed action, as set forth in 40 CFR
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1508.25. The Lake Charles CCS project
cannot operate without the Gasification
Plant, thus construction and operation
of the Gasification Plant is a connected
action and evaluated in the EIS. The
Gasification Plant would convert
petroleum coke into syngas, which
would be further processed to produce
methanol, hydrogen gas, and sulfuric
acid, as well as CO2. The Gasification
Plant would provide raw syngas
containing CO2 to the Lake Charles CCS
project, where the CO2 would be
separated from the syngas. The
Gasification Plant and Lake Charles CCS
capture and compression facilities
would be located on an approximately
70-acre parcel of land leased from the
Lake Charles Harbor and Terminal
District (Port of Lake Charles), on the
west bank of the Calcasieu River
adjacent to Bulk Terminal No. 1, in
southern Calcasieu Parish, Louisiana.
The Gasification Plant would require
new utility linears and pipelines for
delivery of materials and transport of
products as described in the EIS.
Site preparation activities for the
Gasification Plant, including clearing
and grading, began in January 2010. Site
preparation work to add approximately
12 feet of fill to raise the site elevations
above the local 100-year and 500-year
base flood elevations also began in
November 2010. These activities were
authorized under permits issued by the
U.S. Army Corps of Engineers (USACE)
(Lake Charles Harbor & Terminal
District Consent No. DACW29–9–08
[May 30, 2008] and MVN–1998–03311–
WY [August 18, 2008]). Construction of
the Gasification Plant is expected to
begin in the first quarter of 2014 and
take approximately 36 months to
complete. Peak construction is expected
in month 18 and will involve
approximately 2,500 workers, of which
900 would be at the Gasification Plant
site.
For the purposes of the EIS, DOE
assumed that the CO2 capture system
would continue to operate for 30 years.
Petroleum coke from local refineries is
already stored at the Port of Lake
Charles and shipped to buyers overseas.
The approximately 0.5 million tons per
year of petroleum coke needed for the
Gasification Plant will come from the
port. Another approximately 2.1 million
tons per year would come from other
ports in the Gulf of Mexico region.
During operation of the Gasification
Plant, process-related chemicals would
be transported to and from the facility
by truck, rail, barge or ship.
The Lake Charles CCS Project does
not include the commercial operation of
the Green Pipeline or the existing EOR
operations at the West Hastings oil field.
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These activities are not connected
actions as defined by 40 CFR 1508.25.
Alternatives
Congress directed DOE to pursue the
ICCS program by providing federal
financial assistance to projects owned
and controlled by non-federal sponsors.
This statutory requirement places DOE
in a much more limited role than if it
were the owner and operator of these
projects. Here, the purpose and need for
DOE action is defined by the ICCS
program (and its enabling legislation,
Public Laws 110–140 and 111–5). As
such, the reasonable alternatives
available to DOE prior to the selection
of this project under the ICCS program
were the other projects that met the
eligibility requirements of a competitive
solicitation. Other applications (and
their potential environmental, safety,
and health impacts) were considered
during the selection process. Pursuant
to 10 CFR 1021.216, a publicly-available
synopsis of the environmental review
and critique developed for the selection
process was included in the EIS.
After DOE selects a project for an
award, the range of reasonable
alternatives becomes the project as
proposed by the applicant, any
alternatives still under consideration by
the applicant, and the no action
alternative.
No Action Alternative
Under the no action alternative, DOE
would not provide cost-shared funding
for the proposed Lake Charles CCS
project. In the absence of DOE costshared funding, Leucadia could
reasonably pursue several options.
Leucadia could build both the
Gasification Plant and the CCS project
with funding from other sources and
these facilities would include the same
features, attributes, and impacts of the
proposed project and connected action.
Alternatively, Leucadia could choose
not to build all or parts of the
Gasification Plant and CCS project. For
the purpose of making a meaningful
comparison between the impacts of DOE
providing and withholding financial
assistance, DOE assumed that all or part
of the Gasification Plant and CCS
project would not be completed without
DOE funding. Therefore, the following
alternatives were identified and
analyzed in the EIS:
1. Neither the Gasification Plant nor
the Lake Charles CCS project would be
built; or
2. The Gasification Plant would be
built, but the captured CO2 would be
vented to the atmosphere rather than
sequestered in an ongoing EOR
operation.
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The ongoing commercial CO2 EOR
operations and the West Hastings
research MVA program would continue
under each of these no action
alternatives. Under these alternatives,
the opportunity to capture an average of
4.6 million tons of anthropogenic CO2
per year over the 30 year life of the
Gasification Plant for use in EOR would
not be realized. These alternatives
would not contribute to DOE’s goal of
advancing the next generation of
technologies that capture CO2 from
industrial sources for sequestration or
beneficial reuse. While the no action
alternatives would not satisfy the
purpose and need for DOE action, these
alternatives were analyzed to allow for
comparisons to the impacts of the
proposed project as required by 40 CFR
15012.14. The no action alternatives
reflect the baseline conditions and serve
as benchmarks against which the
impacts of the proposed action can be
evaluated.
Leucadia has begun preparing the site
for construction of the Gasification Plant
without DOE funding for other purposes
not related to the Lake Charles CCS
project. The construction of the
Gasification Plant will receive no DOE
funding.
NEPA Process
DOE published a Notice of Intent
(NOI) for this proposed action in the
Federal Register (FR) on April 29, 2011
(FR Doc. 2011–10448). DOE held public
scoping meetings on May 16, 2011, in
Pearland, Texas, and May 17, 2011, in
Westlake, Louisiana. The public scoping
period ended on May 29, 2011, after a
30-day comment period.
DOE prepared a draft EIS identifying
and analyzing the potential impacts of
the proposed action and no action
alternatives. Although DOE funds
would only go to the CCS project, DOE
determined that the Gasification Plant is
a connected action in accordance with
40 CFR 1508.25(a), and its impacts are
analyzed in the EIS, as well as DOE’s no
action alternatives. DOE announced the
availability of the draft EIS in a Notice
of Availability (NOA) published in the
Federal Register (FR) by the U.S.
Environmental Protection Agency (EPA)
on May 10, 2013 (78 FR 28205). DOE
published a separate NOA to announce
its plans for two public hearings, held
in Westlake, Calcasieu Parish,
Louisiana, on June 4, 2013, and in
Pearland, Brazoria County, Texas on
June 5, 2013.
DOE received oral comments on the
draft EIS at the public hearings and
listened to questions and concerns
during informal sessions before the
hearings. During the 45-day public
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comment period, which ended June 25,
2013, DOE received comment letters
from several organizations and agencies.
Comments included concerns about: (1)
The economic benefit of the project and
the use of federal funds; (2) the amount
of CO2 that would be emitted and
captured, and the monitoring of the CO2
throughout the process; (3) the amount
and types of wastes generated; (4) the
process for selecting projects for DOE
funding; (5) the impacts on the ozone
non-attainment status of Calcasieu
Parish; (6) mitigation measures for
construction-related emissions; (7) the
loss of forests and impacts on
threatened and endangered species; (8)
adequacy of the environmental justice
analysis; (9) impacts to water resources
and wetlands; and (10) safety of
chemical use and storage.
DOE considered these comments in
preparing the final EIS. DOE distributed
the final EIS on November 14, 2013, and
EPA published a NOA in the FR on
November 22, 2013 (78 FR 70041). DOE
received no comments on the final EIS.
Decision
DOE has decided to provide Leucadia
with $261.4 million in cost-shared
funding for its proposed project through
a cooperative agreement under DOE’s
ICCS program.
Basis of DOE’s Decision
DOE based its decision on the
importance of achieving the objectives
of the ICCS program and a careful
review of the potential environmental
impacts presented in the EIS. The
proposed project would help DOE meet
its congressionally mandated mission of
supporting demonstration of the next
generation of technologies that capture
CO2 from industrial sources for
sequestration or beneficial use. The
proposed action would also generate
technical, environmental, and financial
data regarding the design, construction,
and operation of a CO2 capture facility,
pipeline, and monitoring facilities. The
data would contribute to DOE’s
evaluation of the effective and economic
implementation of these technologies at
a commercial scale.
This decision incorporates all
practicable means to avoid or minimize
environmental harm. DOE plans to
verify the environmental impacts
predicted in the EIS and the
implementation of appropriate
avoidance and mitigation measures.
Mitigation
DOE’s decision incorporates measures
to avoid and minimize adverse
environmental impacts during the
design, construction and operation of
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the project. DOE requires that recipients
of financial assistance comply with all
applicable federal, state, and local
environmental laws, orders, and
regulations. During project planning,
Leucadia incorporated various
minimization measures and anticipated
permit requirements into its project. The
analyses completed for the EIS assumed
that such measures would be
implemented. These measures are
identified in Chapter 4 of the EIS and
hereby incorporated into this ROD as
conditions for DOE’s financial
assistance under the cooperative
agreement between DOE and Leucadia.
Additional mitigation measures or
measures specific to certain impacts or
comments received are further
discussed below in the section entitled
Potential Environmental Impacts and
Mitigation Measures.
Mitigation measures beyond those
typically specified in permit conditions
will be addressed in a Mitigation Action
Plan (MAP). DOE will prepare the MAP,
consistent with 10 CFR 1021.331, to
establish how the mitigation measures
will be planned, implemented, and
monitored. The MAP is an adaptive
management tool; therefore mitigation
conditions in it would be removed if
equivalent conditions are otherwise
established by permit, license, or law.
Compliance with permit, license or
regulatory requirements is not
considered mitigation subject to DOE
control and therefore are not included
in a MAP.
DOE will ensure that requirements in
the MAP are met through management
of its cooperative agreement with
Leucadia, which requires that Leucadia
fulfill the monitoring and mitigation
measures specified in this ROD. DOE
will make copies of the MAP available
for inspection online and in appropriate
locations for a reasonable time. Copies
of the MAP and any annual reports
required under it will also be available
upon written request.
Potential Environmental Impacts and
Mitigation Measures
In making its decision, DOE
considered the environmental impacts
of Leucadia’s proposed project, DOE’s
proposed action, and the no action
alternative on potentially affected
environmental resource areas. These
included: Climate and air quality,
including greenhouse gas emissions;
geology and soils; surface water,
wetlands, and floodplains; groundwater;
biological resources; cultural resources;
land use; socioeconomics and
environmental justice; traffic and
transportation; noise; waste
management; materials; and human
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health and safety. The EIS also
considered the impacts of the project in
combination with those from other past,
present, and reasonably foreseeable
future actions. The following sections
summarize the potential impacts to the
resource areas with mitigation
requirements. Detailed information for
all resource areas is in the EIS.
Air Quality
Construction of the Gasification Plant
and the CCS project’s CO2 capture and
compression facilities would result in
short-term, localized increased fugitive
dust and vehicle and construction
equipment emissions. In response to
EPA’s comments on the draft EIS,
Leucadia will implement additional best
management practices (BMPs) and
mitigation measures. To control fugitive
dust, Leucadia must avoid open storage
of dry material, install wind fencing as
needed, use water trucks to stabilize
surfaces, prevent spillage when hauling
material and operating equipment, to
the extent possible, and limit the speed
of vehicles on site to 15 miles per hour
(mph) and earth-moving equipment to
10 mph. To control mobile and
stationary source emissions, Leucadia
must use remote parking with bus
transport to the worksite, maintain and
tune engines per manufacturer’s
specifications to perform at EPA
certification levels, prevent tampering
with engines, and use new equipment
where practicable. Leucadia also must
limit idling of heavy equipment; EPA
recommends limiting idling to less than
5 minutes.
In assessing potential impacts during
operations, DOE evaluated the Lake
Charles CCS project and the Gasification
Plant as a single facility, because
together they make a single source for
purposes of air emissions. Leucadia
completed air dispersion modeling in
support of the initial permit application
for criteria pollutants and toxic air
pollutants. For all criteria pollutants,
maximum modeled concentrations in
ambient air due to the proposed facility
emissions would not violate federal or
Louisiana standards.
A General Conformity analysis is not
required for the operations phase as the
Gasification Plant, which includes the
Lake Charles CCS project CO2 capture
and compression facilities, requires a
permit under the Prevention of
Significant Deterioration program.
Under the General Conformity rule,
DOE evaluated the impact of
construction emissions because
Calcasieu Parish has a maintenance plan
effective through 2014 for the 8-hour
National Ambient Air Quality ozone
standard. Total NOX emissions would
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increase 1.9 percent and total VOC
emissions would increase 0.5 percent
above the projected 2014 emission
values in Calcasieu Parish. These
increases in emissions from
construction would not obstruct
Calcasieu Parish’s efforts to maintain
attainment with the ozone standard.
Construction and operation of the CO2
pipeline, and operation of the West
Hastings research MVA program would
result in short-term, localized increased
fugitive dust and vehicle emissions.
Denbury has indicated that it will
implement BMPs including suppression
techniques to minimize dust and
operate and maintain vehicles in
accordance with manufacturers’
recommendations.
Climate
Construction of the Gasification Plant
and Lake Charles CCS project would
generate up to approximately 31,300
tons per year (tpy) of CO2 emissions
over the construction period. Operation
of the Gasification Plant would result in
approximately 5.8 million tpy of new
CO2 emissions. According to the terms
of the cooperative agreement, Leucadia
must design and construct the Lake
Charles CCS project with the goal of
capturing at least 75 percent of the CO2
from the treated stream, comprising at
least 10 percent of CO2 by volume,
which would otherwise be emitted to
the atmosphere. However, the proposed
project is designed to capture
approximately 89 percent of the CO2
produced, or approximately 4.6 million
tpy, when averaged over 30 years.
Additionally, DOE compared the life
cycle analysis (LCA) for the proposed
project and connected action against the
greenhouse gas (GHG) LCA for
conventional production methods of the
same quantities of methanol (steam
reformation of natural gas), hydrogen
(pressure swing absorption), and
sulfuric acid (combustion of elemental
sulfur and catalysis reactions) that
would be produced by Leucadia with
these facilities. The CCS project
captures CO2 and prevents long-distance
exportation of petroleum coke, making
the Gasification Plant life cycle GHG
emissions 56 percent lower than
conventional production methods
generating the same quantities of
methanol.
Geology and Soils
Construction and operation of the
Gasification Plant and Lake Charles CCS
capture and compression facilities
would result in negligible impacts to
geologic resources. The risk of seismic
events is minimal because the area is
within the lowest seismic hazard
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category (Seismic Zone 0). Potential
minor impacts to soils during
construction of the project pipelines
would include disturbance of soils and
the potential for increased soil erosion
from both wind and water. Construction
of the CO2 pipeline would temporarily
affect approximately 107 acres of prime
farmland. Construction of the water
supply and hydrogen pipelines would
temporarily affect approximately 111
acres of prime farmland. As the
pipelines would be located below the
surface, impacts on prime farmland
would be minor and temporary.
Leucadia must restore surface
conditions to their original state and use
following construction of the water
supply and hydrogen pipelines.
Potential soil impacts in all construction
areas would be avoided or mitigated as
described in a project-specific storm
water pollution prevention plan
(SWPPP). Operational activities would
have negligible impacts on soil,
primarily due to disturbance of soils
from vehicle traffic and minor spills or
leaks from vehicles used during
inspection and maintenance activities.
The West Hastings research MVA
program would occur in a seismically
stable area (Seismic Zone 0). None of
the proposed MVA activities would
produce vibrations or forces that would
result in seismic destabilization, and no
geologic hazards exist that would
impact the project or that would become
more hazardous or be aggravated as a
result of those activities. Potential
impacts on geologic resources could
result from seismic events or subsidence
related to CO2 injection; CO2 migration
through a permeable zone in the
confining unit or through improperly
plugged and abandoned wells or
unknown wells; or CO2 migration
through an existing injection,
production, or monitoring well.
Denbury has indicated that a well
integrity testing program would be
conducted and any deficiencies would
be corrected prior to use of such wells.
CO2 migration from the target geologic
units is unlikely, and ongoing
monitoring and modeling would
provide an accurate accounting of the
approximately 1 million tons per year of
CO2 stored through the commercial EOR
process. Therefore, DOE expects adverse
impacts on geologic resources at the
West Hastings oil field from the West
Hastings research MVA program to be
unlikely and negligible to minor due to
the nature of the site and the activities
being conducted. Furthermore, the
research MVA program could have the
positive impact of helping to ensure the
long-term economic and financial
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viability of CO2 capture by confirming
storage of CO2 injected during
commercial EOR operations.
Surface Water, Wetlands, and
Floodplains
The quantity of water needed for
construction and operation of the
Gasification Plant and Lake Charles CCS
capture and compression facilities
would have negligible impacts on water
availability and local water use.
Approximately 26.2 acres of wetlands
were permanently impacted during the
site preparation for the Gasification
Plant and were addressed through offsite mitigation banking. Construction
does not conflict with applicable flood
management plans or ordinances and
would not increase the potential for
flooding. Potential surface water and
wetland impacts from the construction
of the water supply and hydrogen
pipelines would occur during crossing
of Bayou d’Inde, the Sabine River Canal,
and two additional water bodies.
Construction of the water supply and
hydrogen pipelines could potentially
impact 7.1 acres of wetlands, but the
final wetland delineation and
permitting will be conducted by the
U.S. Army Corps of Engineers (USACE).
If a water body, wetland, or floodplain
is crossed by the water supply and
hydrogen pipelines and determined to
be a jurisdictional water of the United
States and the construction impacts on
wetlands exceed applicable thresholds,
Leucadia must obtain the necessary
USACE permits. If compensatory
wetland mitigation becomes necessary
under any USACE permit, Leucadia
must implement additional mitigation
as required and described in the
permit(s). Leucadia must use horizontal
directional drilling (HDD) where
appropriate to minimize the
environmental impacts of crossing
surface waters.
Activities during the operations
period would not result in additional
structures in the floodplain, filling of
wetlands, or alteration of infiltration
rates that would increase volumes
downstream.
During construction of the CO2
pipeline potential impacts to surface
water quality include increased
sediment load, alteration of flow rates
and accidental spills of chemicals or
lubricants. Denbury has proposed HDD
to minimize the environmental impacts
of crossing surface waters. In addition,
USACE permits must be obtained to
cross waters of the United States,
including associated wetlands.
Approximately 550,100 gallons of water
for hydrostatic testing would be
obtained from local water bodies or
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purchased from municipal supplies. No
changes in the availability of surface
water for current or future uses are
anticipated as a result of pipeline
construction. Construction of the CO2
pipeline could permanently impact
14.98 acres and temporarily impact
13.23 acres of 100-year floodplain. Due
to the narrow width of the permanent
right-of-way (ROW), no alteration of
infiltration rates are expected and there
would be no substantial decrease in the
volume of surface water flowing
downstream. Normal operation of the
CO2 pipeline would not affect surface
waters. No impacts on wetlands or
floodplains are anticipated from
operation of the CO2 pipeline.
The West Hastings Research MVA
program would not involve the removal
or injection of any materials that would
result in changes in surface water
availability or runoff or result in
significant effluent releases.
Recompletion of proposed wells would
be outside wetland areas, and Denbury
has proposed BMPs to prevent runoff
from entering wetlands outside of
construction areas. MVA activities
would not increase the potential for
floods, alter a floodway or floodplain, or
otherwise impede or redirect flows.
Biological Resources
Construction and operations activities
at the Gasification Plant and Lake
Charles CCS Capture and Compression
facilities are expected to have negligible
to moderate impacts on biological
resources, which include wildlife,
habitat, plant life, threatened and
endangered species, and migratory
birds. The loss of 70 acres within the
1,740 acres of forested habitat represents
4 percent of the total area. Clearing and
filling of the equipment laydown area
could remove up to 40 acres of potential
adjacent forested emergent wetland
habitat. A loss of 40 acres of forest in the
equipment laydown and methanol/
sulfuric acid storage area represents a
14.5 percent loss within the local 275acre forested wetland area and 2.3
percent loss within the 1,740-acre
forested area of the Bayou ecosystem,
which is a part of the Calcasieu estuary.
The Port of Lake Charles consulted with
the Louisiana Department of Wildlife
and Fisheries (LDWF) and Louisiana
Natural Heritage Program, regarding
construction of the equipment laydown
area. The Louisiana Natural Heritage
Program indicated that no impacts on
rare, threatened, or endangered species
or critical habitats are anticipated.
Approximately 76 percent of the water
supply pipeline route and 99 percent of
the hydrogen pipeline route follow
existing ROWs. The water supply
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pipeline and hydrogen pipeline corridor
would impact 18.47 and 62.74 acres,
respectively, of forest habitat potentially
used by the red cockaded woodpecker.
The USFWS’s Louisiana Ecological
Services concurred that the proposed
project is not likely to adversely affect
resources under the jurisdiction of
Endangered Species Act. Prior to
construction of the pipelines, Leucadia
must contact LDWF to request another
database review to identify any new
occurrences of nesting areas for
migratory birds or colonial water birds.
Leucadia must perform site-specific
surveys within 2 weeks of project
startup, in accordance with LDWF
requirements, to determine whether
migratory birds or colonial water bird
nesting areas are present and the extent
of any colonies. Leucadia must further
consult with LDWF if active nesting
colonies are found within 400 meters of
the project site. Operations activities are
expected to have negligible impacts to
biological resources.
The CO2 pipeline would be located
along or within existing utility ROWs to
the extent practicable and construction
would result in minor impacts to
biological resources. Pipeline
construction would affect 10.21 acres of
forest, 17.65 acres of scrub-shrub, and
2.1 acres of herbaceous grassland
habitats. Denbury has indicated that it
will obtain necessary federal and state
permits, and associated site-specific
surveys and mitigation, if necessary,
prior to construction. The LDWF
recommended that surveys of suitable
nesting areas be conducted no more
than two weeks before construction
begins to determine whether breeding
colonies are present. In addition, the
USFWS recommended informing on-site
personnel of the need to identify
colonial wading birds and their nests,
and to avoid affecting them during the
breeding season. Operations activities
are expected to have negligible impacts
to biological resources.
Negligible impacts on aquatic ecology,
terrestrial vegetation, or wildlife,
including threatened and endangered
species, are expected as a result of the
West Hastings research MVA activities.
Affected habitats at these locations have
been disturbed by past and ongoing
industrial and oil production activities.
Operations activities are expected to
have negligible impacts to biological
resources.
Cultural Resources
Construction of the Gasification Plant
and Lake Charles CCS Capture and
Compression facilities would disturb a
portion of one cultural resource site
located within the areas of potential
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effects (APEs). The Louisiana Site
Historic Preservation Officer (SHPO)
concurred with the determination that
the site was not eligible for listing on
the National Register of Historic Places
(NRHP) and that no further
investigations were necessary.
Operation of the plant and facilities
would have no impacts on cultural
resources or historic properties. DOE
initiated consultation with 13 federally
recognized Native American tribes in
Louisiana, Texas, and other states in
accordance with Section 106 of the
National Historic Preservation Act of
1966, as amended. The Choctaw Nation
of Oklahoma was the only tribe to
respond to the consultation letter for the
proposed action. It concurred with the
finding of no historic properties affected
at this time and agreed that the project
should move ahead as planned.
Leucadia must include a provision in its
construction plans for its contractors
that require them to immediately notify
LCCE if identifiable tribal artifacts or
remains are found during construction.
If notified of any such discoveries,
Leucadia must inform the SHPO and the
Choctaw Nation to ensure the artifacts
or remains are handled appropriately.
Construction of the CCS CO2 pipeline
would destroy one archaeological site.
However, the SHPO reviewed the
results of the Phase I cultural resources
survey within the APE and concluded
that the site was not eligible for the
NRHP. Construction of the CO2 pipeline
also has the potential to result in direct,
permanent, negative impacts on the
Hardey Family Cemetery. Denbury
proposes to avoid the direct impacts by
directionally drilling beneath the
cemetery to avoid physical disturbance.
Cemetery owners have indicated no
objection to construction of the
proposed pipeline if there are no surface
operations and the HDD method is
employed to a depth of at least 25 feet
below the surface of the cemetery.
Construction and operation of the CO2
pipeline would have minor impacts on
cultural resources. Operation of the
West Hastings research MVA program
would have no impacts on cultural
resources because none were identified
within the MVA area.
Leucadia, in coordination with DOE,
must continue consultation with the
SHPO for areas not previously surveyed
for cultural resources. This may occur if
the currently proposed pipeline route
needs to be altered or for other
unforeseen areas of ground disturbance
not analyzed in the EIS. Leucadia must
complete any additional surveys prior to
construction in such areas.
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Land Use
Construction and operation of the
Gasification Plant and CO2 Capture and
Compression facilities would not
conflict with current and future land
use plans and/or zoning ordinances of
Calcasieu Parish. Impacts on residences
would be negligible due to the distance
between residential areas and the
construction site. Construction of the
raw water pipeline would impact a total
of 122 acres of land, including 24 acres
of permanent ROW and 98 acres of
temporary ROW. Construction of the
hydrogen pipeline would impact a total
of 77 acres of land, including 51 acres
of permanent ROW and approximately
26 acres of temporary ROW. To reduce
impacts on surrounding land and
properties, approximately 76 percent of
the water supply pipeline route and 99
percent of the hydrogen pipeline route
would follow existing ROWs.
Temporary visual impacts would result
due to construction and ground
disturbance. Impacts on cropland would
be temporary, and active cropland
would revert to preconstruction use for
the full width of the ROWs.
Construction would not impact special
land uses such as recreation areas,
public lands, historic sites, and
protected water bodies. Leucadia must
use BMPs including dust suppression
techniques to control the dust generated
by construction. Leucadia must
revegetate the pipeline ROWs and
adjacent properties to pre-construction
conditions and vegetate and maintain
new ROW areas. Operation of the
Gasification Plant and Lake Charles CCS
CO2 Capture and Compression facilities
would be compatible with the
surrounding industrial properties and
would have no or negligible impacts on
surrounding land uses. Occasional
maintenance of the water supply and
hydrogen pipelines may require access
to buried portions of the lines. Leucadia
would coordinate with property owners
to minimize potential disturbances. The
ROWs and adjacent properties would be
restored to pre-construction conditions
and maintained.
Construction of the CCS CO2 pipeline
would cause short term impacts on
50.62 acres of temporary ROW and long
term impacts to 56.34 acres of
permanent ROW. Construction activities
would include use of a 12.4 acre site for
a warehouse yard and a 6.9-acre site at
the pipe storage yard. Construction of
the CO2 pipeline would result in the
permanent conversion of 8.27 acres of
forested land, including 2.98 acres of
forested wetland. Small areas of other
vegetation (i.e., scrub/shrub, pasture,
and grassland) within the construction
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ROW could be permanently impacted.
Following construction, approximately
50.62 acres of land within the temporary
ROW would be restored to previous
conditions and uses. Active cropland
would be allowed to revert to
preconstruction use in the full width of
the ROW. No special land uses such as
recreation areas, public lands, historical
sites, or protected water bodies would
be impacted by construction activities.
Denbury would avoid or minimize
adverse impacts on land use by locating
the proposed CO2 pipeline within or
adjacent to existing utility ROWs with
compatible land uses to the extent
practicable. Denbury has indicated that
it would use BMPs to supplement
applicable regulatory requirements in
order to minimize impacts on land use
during construction. Operation of the
CO2 pipeline would require that
landowners not construct or place any
structures within the permanent ROW.
Occasional maintenance may require
access to buried portions of the
pipeline. Denbury would use BMPs
during maintenance to avoid or
minimize impacts on adjacent land uses
and residences. Operation of the
pipeline would have temporary and
negligible impacts on surrounding land
uses during maintenance. The West
Hastings Research MVA activities are
consistent with the existing commercial
EOR operations and would have
negligible impacts on land uses in the
immediate and surrounding areas.
Traffic and Transportation
A temporary increase in traffic during
construction of the Gasification Plant
and Lake Charles CCS Capture and
Compression facilities is expected from
approximately 900 workers accessing
the off-site construction parking area
and approximately 150 off-site
construction vehicles entering the LCCE
Gasification site daily during peak
construction. No major short or longterm impacts to interstate, multi-lane
highway or two lane highway
transportation resources are expected to
occur, although certain segments of
local roadways currently are in
degraded conditions. Based on the
estimated existing and projected future
level of service (LOS) of Ruth Street, the
use of this street during peak
construction would degrade its LOS. For
the offsite construction parking area,
Leucadia must operate shuttle buses to
reduce traffic congestion on local
roadways and may be required to obtain
a temporary construction access permit
from the Louisiana Department of
Transportation and Development
(DOTD). To the extent practicable,
Leucadia must schedule heavy
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equipment deliveries during off peak
hours, start work shifts at non-peak
hours, stagger arrival times at the off-site
construction parking area, request that
personnel use roadways with LOS of A,
B, or C, and coordinate traffic
congestion with Louisiana DOT District
7. Construction of the water supply and
hydrogen pipelines may cause shortterm, minor traffic delays from large,
slow-moving heavy equipment and
delivery trucks. Leucadia must ensure
adequate notice to landowners and
drivers to maintain access to public
roads.
During operations, additional traffic
from 187 personnel and approximately
127 material deliveries would be
negligible compared to the current
traffic. The estimated total ship traffic
for the Gasification Plant is 12 trips per
year or approximately 1.2 percent of the
current vessel traffic at the Port of Lake
Charles.
A temporary minor increase in traffic
during construction of the CO2 pipeline
is expected from an average of
approximately 100 personnel and 10
trucks accessing the route daily.
Denbury has indicated that it would
minimize impacts through various
measures that ensure adequate notice to
landowners and drivers to maintain
access to public roads. Periodic
maintenance of the ROW would include
slow-moving mowers and occasional
maintenance vehicles. Impacts on local
traffic related to 14 new personnel hired
by Denbury to perform the MVA
activities, as well as personnel that
would conduct temporary site visits,
would be negligible.
Noise
Sound levels for general construction
of the Gasification Plant and Lake
Charles CCS Capture and Compression
facilities at the closest noise-sensitive,
residential receptor are expected to be
58 average-weighted decibels [dBA],
which exceeds the 55 dBA EPA
guideline. However, a noise study
indicated that the current background
noise level at the nearest receptor (60
dBA) also exceeds the EPA guideline.
As a temporary daytime occurrence,
construction noise of this magnitude
would likely be imperceptible, and
impacts would be negligible. Increased
truck traffic during daytime hours
would cause a temporary increase in
noise at a limited number of residences
and the impacts are expected to be
negligible. Residences within 500 to
1,000 feet of construction of the water
supply and hydrogen pipelines would
experience a short-term increase in
ambient noise and vibrations from
construction activity. Receptors near
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HDD locations could experience
elevated temporary ambient noise levels
as high as 78 dBA. Noise minimization
measures would be used to reduce
levels by approximately 10 dBA.
Leucadia must minimize noise levels by
limiting construction activities to
daylight hours, as practicable, requiring
contractors to minimize construction
noise and maintain equipment in good
working order, and utilizing temporary
sound barriers. If necessary, Leucadia
must obtain a variance from Calcasieu
Parish for operating HDD equipment
during evening and weekend hours.
Typical sound levels for the equipment
to be used during operation of the LCCE
Gasification plant and CO2 capture and
compression facilities can exceed 120
dBA. Leucadia must implement
engineering design and noise
minimization measures to limit the
levels such that the combination of
noise from the plant and existing
ambient noise would not exceed 58 dBA
at the nearest noise-sensitive receptor
during operation.
During the CCS CO2 pipeline
construction, noise levels may exceed
the EPA guideline of 55 dBA at some
residences. HDD activities may need to
be conducted in the evening or
weekends within 165 feet of a residence
or noise sensitive area, which is
prohibited by Calcasieu and Cameron
Parishes without a variance. Noise
minimization measures would be
implemented to achieve up to a 10 dBA
reduction. As a temporary daytime
occurrence, noise from construction of
the CO2 pipeline would have short-term,
minor impacts on noise receptors. The
impacts from traffic noise during
construction would be negligible
because a majority of the pipeline route
traverses rural areas. No noise above
ambient levels would be generated by
operation of the CO2 pipeline. Noise
impacts from equipment and vehicles
used during inspection and
maintenance activities would be
negligible.
Noise produced by equipment during
conversion and reworking of wells for
the West Hastings Research MVA
Program is not expected to exceed the
EPA guideline more than 1,000 feet
from the equipment. Construction noise
of this magnitude would likely be
imperceptible, given the industrial
setting, and the on-going commercial
EOR operations. Therefore, the potential
noise from the research MVA well
reworking would result in negligible
impacts. Traffic noise may increase for
additional periodic sampling and
monitoring activities, but the increase
would not be distinguishable from
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ambient noise levels and would be
negligible.
Waste Management
Approximately 2,640 cubic yards of
nonhazardous waste and small
quantities of hazardous waste would be
generated annually during the 3-year
construction period of the Gasification
Plant and Lake Charles CCS Capture and
Compression facilities, or less than
0.0002 percent of the available landfill
capacity in Calcasieu Parish. Leucadia
must require construction contractors to
develop a Waste Management Plan that
includes specifications for handling,
containment, and disposal of all wastes
generated during construction of the
Gasification Plant and CCS Capture and
Compression facilities. Approximately
65,000 tons (75,000 cubic yards) of
nonhazardous waste generated annually
during operation represents 0.6 percent
of the total landfill capacity in Calcasieu
Parish. Approximately 1,500 cubic
yards of potentially hazardous waste
would be generated annually during
operation, or less than 0.03 percent of
the capacity of the hazardous waste
landfills in Calcasieu Parish. Leucadia
must implement a program to reduce,
reuse, and recycle waste materials to the
extent practicable.
Portions of the CCS CO2 pipeline
would be constructed using HDD and a
bentonite slurry that would be recycled,
spread in upland areas as a soil
supplement, if permitted, or removed
and disposed of at a local permitted
solid waste landfill. Construction and
operation would not create hazardous
wastes in quantities that would require
a RCRA permit. Disposal of
nonhazardous and potentially
hazardous wastes generated by
construction and operation of the
proposed CO2 pipeline would have a
negligible impact on the capacity or
management of hazardous or solid waste
services and landfills in the area.
The West Hastings research MVA
activities would involve drilling
equipment to plug back, recondition,
and re-complete existing wells.
Research MVA activities could generate
waste streams, including drilling mud
and produced water during well
construction. Produced water and light
sediment would be pumped into trucks
and hauled off-site by a licensed
contractor for disposal. Excess drilling
mud would be collected and stabilized
in steel tanks and transported off-site to
a designated local solid waste landfill.
No hazardous waste would be generated
as a result of the research MVA
activities. Impacts related to the
disposal of drill cuttings and treatment
of the produced water generated during
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the reworking of existing wells would
not require the use of unique waste
disposal or treatment technologies and
would result in negligible impacts on
the capacity and management of
landfills and disposal facilities in the
area.
Potential Environmental Impacts of the
No Action Alternative
Under no action sub-alternative 1,
Leucadia would build neither the
Gasification Plant nor the Lake Charles
CCS project. The resources necessary for
construction would be available for
construction of other industrial projects
in this area or elsewhere. The Port of
Lake Charles would continue to ship pet
coke worldwide for use as fuel in power
plants. The use of pet coke in
conventional power plants would likely
emit more air emissions than its use in
the Gasification Plant because of the
stringent emission requirements
imposed on the plant compared to
conventional power plants.
Environmental conditions would not
change. The impacts to the community
from noise, traffic, air emissions, and
disruption of land use, jobs, and
economic development would not
occur. The impacts on the environment
from air emissions, disruption of
wildlife, use of surface water, discharge
of wastewater, and loss of wetlands
would not occur. Denbury would
continue to inject CO2 obtained from
geologic sources in its ongoing EOR
operations. The Lake Charles CCS
project would not fund a research MVA
program at the West Hastings oil field.
Sub-alternative 1 of the no action
alternative would not contribute to the
demonstration of the next generation of
technologies to capture CO2 from
industrial sources.
Under no action sub-alternative 2,
Leucadia would build the Gasification
Plant and vent the CO2 to the
atmosphere. The impacts from the
construction and operation of the
Gasification Plant would still occur.
Leucadia would still capture the CO2
from the syngas using Rectisol®.
Leucadia would route the CO2 stream to
discharge to the atmosphere under the
current air permit issued by LDEQ.
Approximately 5.2 million tons of CO2
would be emitted per year from the
carbon capture technology that would
otherwise be captured. Emissions
produced by the construction of the
pipeline, and indirect emissions
associated with electricity use by the
CO2 capture and compression facility,
would not occur. No impacts related to
construction of the CO2 pipeline would
occur. Denbury would continue to inject
CO2 obtained from geologic sources in
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its ongoing EOR operations. The Lake
Charles CCS project would not fund a
research MVA program at the West
Hastings oil field. If the CCS project is
not built, the opportunity to capture an
average of 4.6 million tons of
anthropogenic CO2 per year over the 30
year life of the Gasification Plant for use
in EOR would be lost. Sub-alternative 2
would not contribute to DOE’s goal of
demonstrating the next generation of
technologies that capture CO2 emissions
from industrial sources.
Environmentally Preferred Alternative
From a local perspective, no action
sub-alternative 1 is the environmentally
preferable alternative because it would
result in no changes to existing
environmental conditions. However,
from a national perspective, DOE’s
proposed action is the environmentally
preferred alternative. Successful
operation of the proposed project could
facilitate the deployment of advanced
technology integrated with an industrial
source to capture CO2 that would
otherwise be emitted to the atmosphere.
Floodplain Statement of Findings
DOE prepared this floodplain
statement of findings in accordance
with its regulations entitled
‘‘Compliance With Floodplain and
Wetland Environmental Review
Requirements’’ (10 CFR 1022). DOE
completed the required floodplain
assessment in coordination with
development and preparation of the EIS,
and incorporated the results and
discussion in Sections 3.4, 4.4, and
Appendix E of the final EIS.
Based on the FEMA Flood Insurance
Map and Rita Recovery Maps, the
Gasification Plant and the CO2 Capture
and Compression facilities site’s
Advisory Base Flood Elevation (ABFE)
is 10 feet above mean sea level (MSL).
The Gasification Plant and Capture and
Compression site would be filled to an
elevation that is above the ABFE. The
120-acre area, which would include 40
acres for equipment laydown during
construction and methanol/sulfuric acid
storage during operation, is within the
100-year floodplain of the Calcasieu
River. DOE assumes that the site would
continue to be filled above the base
flood elevation set by FEMA. Given the
relative size of the 70-acre site and the
40-acre site compared to the designated
floodway of 8 miles along the Calcasieu
ship channel and 3,976 acres drainage
area, the fill would not result in a
measurable increase in the upstream
base flood elevation as determined by
FEMA, nor have a measurable effect on
the performance of the designated
floodway. The proposed water and
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1861
hydrogen pipelines associated with
Gasification Plant would be installed
below ground within the 100-year
floodplain of Bayou d’Inde and
Calcasieu River.
The proposed CCS CO2 pipeline route
is located in proximity to the
floodplains of Bayou d’Inde, the
Houston River, and the Calcasieu River,
and much of the proposed route is
located within 100-year floodplains of
the Calcasieu River and its tributaries.
The proposed pipeline would be
installed below ground, therefore no
alteration of infiltration rates and no
substantial decrease in the volume of
surface water that flows downstream
would result.
Approximately one-third of the West
Hastings research MVA area, including
two proposed well locations, is within
the 100-year floodplain of Chigger
Creek. However, research MVA
activities would not increase the
potential for floods, alter a floodway or
floodplain, or otherwise impede or
redirect flows such that human health,
the environment, or personal property
could be affected. Activities would be
conducted on existing wells and no new
construction would occur.
As a result of location requirements,
i.e., being adjacent to navigable waters
and existing rail, road, and pipeline
infrastructure, the proposed project and
connected action were found to have no
practicable siting alternatives. Based
upon DOE’s review and the project
proponents’ coordination with the local
floodplain administrator and local
USACE District, and adoption of
minimization measures, DOE’s
proposed action would not result in
potential harm to or within floodplains.
Issued in Pittsburgh, PA on this 28 day of
December 2013.
Scott M. Klara,
Acting Director, National Energy Technology
Laboratory.
[FR Doc. 2014–00299 Filed 1–9–14; 8:45 am]
BILLING CODE 6450–01–P
ENVIRONMENTAL PROTECTION
AGENCY
[ER–FRL–9012–9]
Environmental Impact Statements;
Notice of Availability
Responsible Agency: Office of Federal
Activities, General Information (202)
564–7146 or https://www.epa.gov/
compliance/nepa/.
Weekly receipt of Environmental Impact
Statements filed 12/30/2013 through
01/03/2014 pursuant to 40 CFR
1506.9.
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Agencies
[Federal Register Volume 79, Number 7 (Friday, January 10, 2014)]
[Notices]
[Pages 1854-1861]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 2014-00299]
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DEPARTMENT OF ENERGY
Record of Decision and Floodplain Statement of Findings for the
Lake Charles Carbon Capture and Sequestration Project
AGENCY: Department of Energy.
ACTION: Record of Decision.
-----------------------------------------------------------------------
SUMMARY: The U.S. Department of Energy (DOE) announces its decision to
provide cost-shared funding to Leucadia Energy, LLC (Leucadia) for its
Lake Charles Carbon Capture and Sequestration project (Lake Charles CCS
project) under DOE's Industrial Carbon Capture Sequestration (ICCS)
Program. DOE prepared an environmental impact statement (EIS) to
evaluate the potential environmental impacts associated with DOE's
proposed action of providing financial assistance to the Lake Charles
CCS project. The EIS evaluated the impacts associated with construction
and operation of the proposed project and Leucadia's Gasification
Plant, which is a connected action. DOE's proposed action is to provide
financial assistance through a cooperative agreement with Leucadia to
capture carbon dioxide (CO2) from the Gasification Plant and
transport the CO2 via pipelines to the West Hastings oil
field, for use in existing, commercial enhanced oil recovery (EOR). The
West Hastings research monitoring, verification, and accounting (MVA)
program will provide an accurate accounting of approximately 1 million
tons of stored CO2.
ADDRESSES: The EIS and this Record of Decision (ROD) are available on
DOE's Web sites (www.energy.gov/nepa/or www.netl.doe.gov/publications/others/nepa/). Copies of these documents may also be obtained
by contacting Ms. Pierina Fayish, M/S 922-342C, U.S. Department of
Energy, National Energy Technology Laboratory, P.O. Box 10940,
Pittsburgh, PA 15236; telephone: 412-386-5428; or email:
pierina.fayish@netl.doe.gov.
FOR FURTHER INFORMATION CONTACT: To obtain additional information about
the project or the EIS, contact Ms. Pierina Fayish at the address
provided above. For general information on DOE's NEPA process, contact
Ms. Carol M. Borgstrom, Director, Office of NEPA Policy and Compliance
(GC-54), U.S. Department of Energy, 1000 Independence Avenue SW.,
Washington DC 20585; telephone: 202-586-4600; or toll free at 1-800-
472-2756.
SUPPLEMENTARY INFORMATION: DOE prepared this ROD pursuant to the
National Environmental Policy Act (NEPA) of 1969 (42 United States Code
[U.S.C.] 4321 et seq.), and in compliance with the Council on
Environmental Quality (CEQ) implementing regulations for NEPA (40 Code
of Federal Regulations [CFR] 1500 through 1508), DOE's NEPA
implementing procedures (10 CFR Part 1021) and DOE's Compliance with
Floodplain and Wetland Environmental Review regulations (10 CFR Part
1022). This ROD is based on DOE's EIS for the Lake Charles CCS Project
(DOE/EIS-0464, November 2013) and other program considerations.
Purpose and Need for Agency Action
The purpose and need for DOE action is to advance the ICCS program
by providing financial assistance to projects that have the best chance
of achieving the program's objectives as established by Congress:
Demonstrating the next generation of technologies that will capture
CO2 from industrial sources and either sequester or
beneficially use it. The proposed project was selected under the ICCS
program as one of a portfolio of projects that DOE determined were the
most appropriate ones to achieve programmatic objectives and meet
legislative requirements.
This proposed project would help the ICCS Program meet its
congressionally mandated mission of large-scale testing of
CO2 sequestration systems. The project would demonstrate the
use of advanced technologies to capture CO2 from an
industrial source and sequester it as part of an EOR operation. The
project would also provide information on the cost and feasibility of
deploying sequestration technologies. A successful demonstration of the
Rectisol[supreg]-based carbon-capture technology with beneficial use of
the CO2 at an existing oil field would also generate
technical, environmental, and financial data
[[Page 1855]]
regarding the design, construction, and operation of a CO2
capture facility, pipeline, and CO2 monitoring at the oil
field. These data would be used to evaluate whether these technologies
could be effectively implemented at a commercial scale.
DOE's Proposed Action
DOE's proposed action is to provide $261.4 million in cost-shared
funding through a cooperative agreement with Leucadia for its proposed
project. DOE has already provided $13.9 million to Leucadia for
preliminary design and related activities. The estimated total cost of
the Lake Charles CCS project is $435.6 million.
Project Description and Location
The Lake Charles CCS project would result in the construction and
operation of a Rectisol[supreg]-based facility to capture at least 75
percent of the CO2 from the treated stream which would
otherwise be released to the atmosphere from the Gasification Plant.
The CCS project includes:
(1) CO2 Capture and Compression--Two Lurgi Rectisol[supreg] Acid
Gas Removal (AGR) units and two compressors would pressurize the
CO2 to 2,250 pounds per square inch gauge (psig) for
transport and geologic sequestration. The project would be designed to
capture approximately 89 percent of the CO2 produced from
the Gasification Plant. Over the 30-year expected life, approximately
4.6 million tons of CO2 per year would be captured, on
average.
(2) CO2 Pipeline--A new pipeline, approximately 16 inches in
diameter, would carry the captured CO2 approximately 11.9
miles and connect to the existing Green Pipeline, which extends across
Louisiana into Texas.
(3) Research Monitoring Program--Denbury Onshore, LLC (Denbury) and
the Texas Bureau of Economic Geology (BEG) would jointly implement the
West Hastings research monitoring, verification, and accounting (MVA)
program aimed at providing an accurate accounting of approximately 1
million tons of stored CO2, and a high level of confidence
that the CO2 injected in the oilfield during existing EOR
operations will remain permanently sequestered. The West Hastings
research MVA activities would supplement Denbury's ongoing commercial
monitoring activities and regulatory requirements performed for
commercial CO2 EOR and would provide additional information
regarding the underground movement and confinement of CO2.
In the context of NEPA, connected actions are actions dependent on
the proposed action, as set forth in 40 CFR 1508.25. The Lake Charles
CCS project cannot operate without the Gasification Plant, thus
construction and operation of the Gasification Plant is a connected
action and evaluated in the EIS. The Gasification Plant would convert
petroleum coke into syngas, which would be further processed to produce
methanol, hydrogen gas, and sulfuric acid, as well as CO2.
The Gasification Plant would provide raw syngas containing
CO2 to the Lake Charles CCS project, where the
CO2 would be separated from the syngas. The Gasification
Plant and Lake Charles CCS capture and compression facilities would be
located on an approximately 70-acre parcel of land leased from the Lake
Charles Harbor and Terminal District (Port of Lake Charles), on the
west bank of the Calcasieu River adjacent to Bulk Terminal No. 1, in
southern Calcasieu Parish, Louisiana. The Gasification Plant would
require new utility linears and pipelines for delivery of materials and
transport of products as described in the EIS.
Site preparation activities for the Gasification Plant, including
clearing and grading, began in January 2010. Site preparation work to
add approximately 12 feet of fill to raise the site elevations above
the local 100-year and 500-year base flood elevations also began in
November 2010. These activities were authorized under permits issued by
the U.S. Army Corps of Engineers (USACE) (Lake Charles Harbor &
Terminal District Consent No. DACW29-9-08 [May 30, 2008] and MVN-1998-
03311-WY [August 18, 2008]). Construction of the Gasification Plant is
expected to begin in the first quarter of 2014 and take approximately
36 months to complete. Peak construction is expected in month 18 and
will involve approximately 2,500 workers, of which 900 would be at the
Gasification Plant site.
For the purposes of the EIS, DOE assumed that the CO2
capture system would continue to operate for 30 years. Petroleum coke
from local refineries is already stored at the Port of Lake Charles and
shipped to buyers overseas. The approximately 0.5 million tons per year
of petroleum coke needed for the Gasification Plant will come from the
port. Another approximately 2.1 million tons per year would come from
other ports in the Gulf of Mexico region. During operation of the
Gasification Plant, process-related chemicals would be transported to
and from the facility by truck, rail, barge or ship.
The Lake Charles CCS Project does not include the commercial
operation of the Green Pipeline or the existing EOR operations at the
West Hastings oil field. These activities are not connected actions as
defined by 40 CFR 1508.25.
Alternatives
Congress directed DOE to pursue the ICCS program by providing
federal financial assistance to projects owned and controlled by non-
federal sponsors. This statutory requirement places DOE in a much more
limited role than if it were the owner and operator of these projects.
Here, the purpose and need for DOE action is defined by the ICCS
program (and its enabling legislation, Public Laws 110-140 and 111-5).
As such, the reasonable alternatives available to DOE prior to the
selection of this project under the ICCS program were the other
projects that met the eligibility requirements of a competitive
solicitation. Other applications (and their potential environmental,
safety, and health impacts) were considered during the selection
process. Pursuant to 10 CFR 1021.216, a publicly-available synopsis of
the environmental review and critique developed for the selection
process was included in the EIS.
After DOE selects a project for an award, the range of reasonable
alternatives becomes the project as proposed by the applicant, any
alternatives still under consideration by the applicant, and the no
action alternative.
No Action Alternative
Under the no action alternative, DOE would not provide cost-shared
funding for the proposed Lake Charles CCS project. In the absence of
DOE cost-shared funding, Leucadia could reasonably pursue several
options. Leucadia could build both the Gasification Plant and the CCS
project with funding from other sources and these facilities would
include the same features, attributes, and impacts of the proposed
project and connected action. Alternatively, Leucadia could choose not
to build all or parts of the Gasification Plant and CCS project. For
the purpose of making a meaningful comparison between the impacts of
DOE providing and withholding financial assistance, DOE assumed that
all or part of the Gasification Plant and CCS project would not be
completed without DOE funding. Therefore, the following alternatives
were identified and analyzed in the EIS:
1. Neither the Gasification Plant nor the Lake Charles CCS project
would be built; or
2. The Gasification Plant would be built, but the captured
CO2 would be vented to the atmosphere rather than
sequestered in an ongoing EOR operation.
[[Page 1856]]
The ongoing commercial CO2 EOR operations and the West
Hastings research MVA program would continue under each of these no
action alternatives. Under these alternatives, the opportunity to
capture an average of 4.6 million tons of anthropogenic CO2
per year over the 30 year life of the Gasification Plant for use in EOR
would not be realized. These alternatives would not contribute to DOE's
goal of advancing the next generation of technologies that capture
CO2 from industrial sources for sequestration or beneficial
reuse. While the no action alternatives would not satisfy the purpose
and need for DOE action, these alternatives were analyzed to allow for
comparisons to the impacts of the proposed project as required by 40
CFR 15012.14. The no action alternatives reflect the baseline
conditions and serve as benchmarks against which the impacts of the
proposed action can be evaluated.
Leucadia has begun preparing the site for construction of the
Gasification Plant without DOE funding for other purposes not related
to the Lake Charles CCS project. The construction of the Gasification
Plant will receive no DOE funding.
NEPA Process
DOE published a Notice of Intent (NOI) for this proposed action in
the Federal Register (FR) on April 29, 2011 (FR Doc. 2011-10448). DOE
held public scoping meetings on May 16, 2011, in Pearland, Texas, and
May 17, 2011, in Westlake, Louisiana. The public scoping period ended
on May 29, 2011, after a 30-day comment period.
DOE prepared a draft EIS identifying and analyzing the potential
impacts of the proposed action and no action alternatives. Although DOE
funds would only go to the CCS project, DOE determined that the
Gasification Plant is a connected action in accordance with 40 CFR
1508.25(a), and its impacts are analyzed in the EIS, as well as DOE's
no action alternatives. DOE announced the availability of the draft EIS
in a Notice of Availability (NOA) published in the Federal Register
(FR) by the U.S. Environmental Protection Agency (EPA) on May 10, 2013
(78 FR 28205). DOE published a separate NOA to announce its plans for
two public hearings, held in Westlake, Calcasieu Parish, Louisiana, on
June 4, 2013, and in Pearland, Brazoria County, Texas on June 5, 2013.
DOE received oral comments on the draft EIS at the public hearings
and listened to questions and concerns during informal sessions before
the hearings. During the 45-day public comment period, which ended June
25, 2013, DOE received comment letters from several organizations and
agencies. Comments included concerns about: (1) The economic benefit of
the project and the use of federal funds; (2) the amount of
CO2 that would be emitted and captured, and the monitoring
of the CO2 throughout the process; (3) the amount and types
of wastes generated; (4) the process for selecting projects for DOE
funding; (5) the impacts on the ozone non-attainment status of
Calcasieu Parish; (6) mitigation measures for construction-related
emissions; (7) the loss of forests and impacts on threatened and
endangered species; (8) adequacy of the environmental justice analysis;
(9) impacts to water resources and wetlands; and (10) safety of
chemical use and storage.
DOE considered these comments in preparing the final EIS. DOE
distributed the final EIS on November 14, 2013, and EPA published a NOA
in the FR on November 22, 2013 (78 FR 70041). DOE received no comments
on the final EIS.
Decision
DOE has decided to provide Leucadia with $261.4 million in cost-
shared funding for its proposed project through a cooperative agreement
under DOE's ICCS program.
Basis of DOE's Decision
DOE based its decision on the importance of achieving the
objectives of the ICCS program and a careful review of the potential
environmental impacts presented in the EIS. The proposed project would
help DOE meet its congressionally mandated mission of supporting
demonstration of the next generation of technologies that capture
CO2 from industrial sources for sequestration or beneficial
use. The proposed action would also generate technical, environmental,
and financial data regarding the design, construction, and operation of
a CO2 capture facility, pipeline, and monitoring facilities.
The data would contribute to DOE's evaluation of the effective and
economic implementation of these technologies at a commercial scale.
This decision incorporates all practicable means to avoid or
minimize environmental harm. DOE plans to verify the environmental
impacts predicted in the EIS and the implementation of appropriate
avoidance and mitigation measures.
Mitigation
DOE's decision incorporates measures to avoid and minimize adverse
environmental impacts during the design, construction and operation of
the project. DOE requires that recipients of financial assistance
comply with all applicable federal, state, and local environmental
laws, orders, and regulations. During project planning, Leucadia
incorporated various minimization measures and anticipated permit
requirements into its project. The analyses completed for the EIS
assumed that such measures would be implemented. These measures are
identified in Chapter 4 of the EIS and hereby incorporated into this
ROD as conditions for DOE's financial assistance under the cooperative
agreement between DOE and Leucadia. Additional mitigation measures or
measures specific to certain impacts or comments received are further
discussed below in the section entitled Potential Environmental Impacts
and Mitigation Measures.
Mitigation measures beyond those typically specified in permit
conditions will be addressed in a Mitigation Action Plan (MAP). DOE
will prepare the MAP, consistent with 10 CFR 1021.331, to establish how
the mitigation measures will be planned, implemented, and monitored.
The MAP is an adaptive management tool; therefore mitigation conditions
in it would be removed if equivalent conditions are otherwise
established by permit, license, or law. Compliance with permit, license
or regulatory requirements is not considered mitigation subject to DOE
control and therefore are not included in a MAP.
DOE will ensure that requirements in the MAP are met through
management of its cooperative agreement with Leucadia, which requires
that Leucadia fulfill the monitoring and mitigation measures specified
in this ROD. DOE will make copies of the MAP available for inspection
online and in appropriate locations for a reasonable time. Copies of
the MAP and any annual reports required under it will also be available
upon written request.
Potential Environmental Impacts and Mitigation Measures
In making its decision, DOE considered the environmental impacts of
Leucadia's proposed project, DOE's proposed action, and the no action
alternative on potentially affected environmental resource areas. These
included: Climate and air quality, including greenhouse gas emissions;
geology and soils; surface water, wetlands, and floodplains;
groundwater; biological resources; cultural resources; land use;
socioeconomics and environmental justice; traffic and transportation;
noise; waste management; materials; and human
[[Page 1857]]
health and safety. The EIS also considered the impacts of the project
in combination with those from other past, present, and reasonably
foreseeable future actions. The following sections summarize the
potential impacts to the resource areas with mitigation requirements.
Detailed information for all resource areas is in the EIS.
Air Quality
Construction of the Gasification Plant and the CCS project's
CO2 capture and compression facilities would result in
short-term, localized increased fugitive dust and vehicle and
construction equipment emissions. In response to EPA's comments on the
draft EIS, Leucadia will implement additional best management practices
(BMPs) and mitigation measures. To control fugitive dust, Leucadia must
avoid open storage of dry material, install wind fencing as needed, use
water trucks to stabilize surfaces, prevent spillage when hauling
material and operating equipment, to the extent possible, and limit the
speed of vehicles on site to 15 miles per hour (mph) and earth-moving
equipment to 10 mph. To control mobile and stationary source emissions,
Leucadia must use remote parking with bus transport to the worksite,
maintain and tune engines per manufacturer's specifications to perform
at EPA certification levels, prevent tampering with engines, and use
new equipment where practicable. Leucadia also must limit idling of
heavy equipment; EPA recommends limiting idling to less than 5 minutes.
In assessing potential impacts during operations, DOE evaluated the
Lake Charles CCS project and the Gasification Plant as a single
facility, because together they make a single source for purposes of
air emissions. Leucadia completed air dispersion modeling in support of
the initial permit application for criteria pollutants and toxic air
pollutants. For all criteria pollutants, maximum modeled concentrations
in ambient air due to the proposed facility emissions would not violate
federal or Louisiana standards.
A General Conformity analysis is not required for the operations
phase as the Gasification Plant, which includes the Lake Charles CCS
project CO2 capture and compression facilities, requires a
permit under the Prevention of Significant Deterioration program. Under
the General Conformity rule, DOE evaluated the impact of construction
emissions because Calcasieu Parish has a maintenance plan effective
through 2014 for the 8-hour National Ambient Air Quality ozone
standard. Total NOX emissions would increase 1.9 percent and
total VOC emissions would increase 0.5 percent above the projected 2014
emission values in Calcasieu Parish. These increases in emissions from
construction would not obstruct Calcasieu Parish's efforts to maintain
attainment with the ozone standard.
Construction and operation of the CO2 pipeline, and
operation of the West Hastings research MVA program would result in
short-term, localized increased fugitive dust and vehicle emissions.
Denbury has indicated that it will implement BMPs including suppression
techniques to minimize dust and operate and maintain vehicles in
accordance with manufacturers' recommendations.
Climate
Construction of the Gasification Plant and Lake Charles CCS project
would generate up to approximately 31,300 tons per year (tpy) of
CO2 emissions over the construction period. Operation of the
Gasification Plant would result in approximately 5.8 million tpy of new
CO2 emissions. According to the terms of the cooperative
agreement, Leucadia must design and construct the Lake Charles CCS
project with the goal of capturing at least 75 percent of the
CO2 from the treated stream, comprising at least 10 percent
of CO2 by volume, which would otherwise be emitted to the
atmosphere. However, the proposed project is designed to capture
approximately 89 percent of the CO2 produced, or
approximately 4.6 million tpy, when averaged over 30 years.
Additionally, DOE compared the life cycle analysis (LCA) for the
proposed project and connected action against the greenhouse gas (GHG)
LCA for conventional production methods of the same quantities of
methanol (steam reformation of natural gas), hydrogen (pressure swing
absorption), and sulfuric acid (combustion of elemental sulfur and
catalysis reactions) that would be produced by Leucadia with these
facilities. The CCS project captures CO2 and prevents long-
distance exportation of petroleum coke, making the Gasification Plant
life cycle GHG emissions 56 percent lower than conventional production
methods generating the same quantities of methanol.
Geology and Soils
Construction and operation of the Gasification Plant and Lake
Charles CCS capture and compression facilities would result in
negligible impacts to geologic resources. The risk of seismic events is
minimal because the area is within the lowest seismic hazard category
(Seismic Zone 0). Potential minor impacts to soils during construction
of the project pipelines would include disturbance of soils and the
potential for increased soil erosion from both wind and water.
Construction of the CO2 pipeline would temporarily affect
approximately 107 acres of prime farmland. Construction of the water
supply and hydrogen pipelines would temporarily affect approximately
111 acres of prime farmland. As the pipelines would be located below
the surface, impacts on prime farmland would be minor and temporary.
Leucadia must restore surface conditions to their original state and
use following construction of the water supply and hydrogen pipelines.
Potential soil impacts in all construction areas would be avoided or
mitigated as described in a project-specific storm water pollution
prevention plan (SWPPP). Operational activities would have negligible
impacts on soil, primarily due to disturbance of soils from vehicle
traffic and minor spills or leaks from vehicles used during inspection
and maintenance activities.
The West Hastings research MVA program would occur in a seismically
stable area (Seismic Zone 0). None of the proposed MVA activities would
produce vibrations or forces that would result in seismic
destabilization, and no geologic hazards exist that would impact the
project or that would become more hazardous or be aggravated as a
result of those activities. Potential impacts on geologic resources
could result from seismic events or subsidence related to
CO2 injection; CO2 migration through a permeable
zone in the confining unit or through improperly plugged and abandoned
wells or unknown wells; or CO2 migration through an existing
injection, production, or monitoring well. Denbury has indicated that a
well integrity testing program would be conducted and any deficiencies
would be corrected prior to use of such wells. CO2 migration
from the target geologic units is unlikely, and ongoing monitoring and
modeling would provide an accurate accounting of the approximately 1
million tons per year of CO2 stored through the commercial
EOR process. Therefore, DOE expects adverse impacts on geologic
resources at the West Hastings oil field from the West Hastings
research MVA program to be unlikely and negligible to minor due to the
nature of the site and the activities being conducted. Furthermore, the
research MVA program could have the positive impact of helping to
ensure the long-term economic and financial
[[Page 1858]]
viability of CO2 capture by confirming storage of
CO2 injected during commercial EOR operations.
Surface Water, Wetlands, and Floodplains
The quantity of water needed for construction and operation of the
Gasification Plant and Lake Charles CCS capture and compression
facilities would have negligible impacts on water availability and
local water use.
Approximately 26.2 acres of wetlands were permanently impacted
during the site preparation for the Gasification Plant and were
addressed through off-site mitigation banking. Construction does not
conflict with applicable flood management plans or ordinances and would
not increase the potential for flooding. Potential surface water and
wetland impacts from the construction of the water supply and hydrogen
pipelines would occur during crossing of Bayou d'Inde, the Sabine River
Canal, and two additional water bodies. Construction of the water
supply and hydrogen pipelines could potentially impact 7.1 acres of
wetlands, but the final wetland delineation and permitting will be
conducted by the U.S. Army Corps of Engineers (USACE). If a water body,
wetland, or floodplain is crossed by the water supply and hydrogen
pipelines and determined to be a jurisdictional water of the United
States and the construction impacts on wetlands exceed applicable
thresholds, Leucadia must obtain the necessary USACE permits. If
compensatory wetland mitigation becomes necessary under any USACE
permit, Leucadia must implement additional mitigation as required and
described in the permit(s). Leucadia must use horizontal directional
drilling (HDD) where appropriate to minimize the environmental impacts
of crossing surface waters.
Activities during the operations period would not result in
additional structures in the floodplain, filling of wetlands, or
alteration of infiltration rates that would increase volumes
downstream.
During construction of the CO2 pipeline potential
impacts to surface water quality include increased sediment load,
alteration of flow rates and accidental spills of chemicals or
lubricants. Denbury has proposed HDD to minimize the environmental
impacts of crossing surface waters. In addition, USACE permits must be
obtained to cross waters of the United States, including associated
wetlands. Approximately 550,100 gallons of water for hydrostatic
testing would be obtained from local water bodies or purchased from
municipal supplies. No changes in the availability of surface water for
current or future uses are anticipated as a result of pipeline
construction. Construction of the CO2 pipeline could
permanently impact 14.98 acres and temporarily impact 13.23 acres of
100-year floodplain. Due to the narrow width of the permanent right-of-
way (ROW), no alteration of infiltration rates are expected and there
would be no substantial decrease in the volume of surface water flowing
downstream. Normal operation of the CO2 pipeline would not
affect surface waters. No impacts on wetlands or floodplains are
anticipated from operation of the CO2 pipeline.
The West Hastings Research MVA program would not involve the
removal or injection of any materials that would result in changes in
surface water availability or runoff or result in significant effluent
releases. Recompletion of proposed wells would be outside wetland
areas, and Denbury has proposed BMPs to prevent runoff from entering
wetlands outside of construction areas. MVA activities would not
increase the potential for floods, alter a floodway or floodplain, or
otherwise impede or redirect flows.
Biological Resources
Construction and operations activities at the Gasification Plant
and Lake Charles CCS Capture and Compression facilities are expected to
have negligible to moderate impacts on biological resources, which
include wildlife, habitat, plant life, threatened and endangered
species, and migratory birds. The loss of 70 acres within the 1,740
acres of forested habitat represents 4 percent of the total area.
Clearing and filling of the equipment laydown area could remove up to
40 acres of potential adjacent forested emergent wetland habitat. A
loss of 40 acres of forest in the equipment laydown and methanol/
sulfuric acid storage area represents a 14.5 percent loss within the
local 275-acre forested wetland area and 2.3 percent loss within the
1,740-acre forested area of the Bayou ecosystem, which is a part of the
Calcasieu estuary. The Port of Lake Charles consulted with the
Louisiana Department of Wildlife and Fisheries (LDWF) and Louisiana
Natural Heritage Program, regarding construction of the equipment
laydown area. The Louisiana Natural Heritage Program indicated that no
impacts on rare, threatened, or endangered species or critical habitats
are anticipated. Approximately 76 percent of the water supply pipeline
route and 99 percent of the hydrogen pipeline route follow existing
ROWs. The water supply pipeline and hydrogen pipeline corridor would
impact 18.47 and 62.74 acres, respectively, of forest habitat
potentially used by the red cockaded woodpecker. The USFWS's Louisiana
Ecological Services concurred that the proposed project is not likely
to adversely affect resources under the jurisdiction of Endangered
Species Act. Prior to construction of the pipelines, Leucadia must
contact LDWF to request another database review to identify any new
occurrences of nesting areas for migratory birds or colonial water
birds. Leucadia must perform site-specific surveys within 2 weeks of
project startup, in accordance with LDWF requirements, to determine
whether migratory birds or colonial water bird nesting areas are
present and the extent of any colonies. Leucadia must further consult
with LDWF if active nesting colonies are found within 400 meters of the
project site. Operations activities are expected to have negligible
impacts to biological resources.
The CO2 pipeline would be located along or within
existing utility ROWs to the extent practicable and construction would
result in minor impacts to biological resources. Pipeline construction
would affect 10.21 acres of forest, 17.65 acres of scrub-shrub, and 2.1
acres of herbaceous grassland habitats. Denbury has indicated that it
will obtain necessary federal and state permits, and associated site-
specific surveys and mitigation, if necessary, prior to construction.
The LDWF recommended that surveys of suitable nesting areas be
conducted no more than two weeks before construction begins to
determine whether breeding colonies are present. In addition, the USFWS
recommended informing on-site personnel of the need to identify
colonial wading birds and their nests, and to avoid affecting them
during the breeding season. Operations activities are expected to have
negligible impacts to biological resources.
Negligible impacts on aquatic ecology, terrestrial vegetation, or
wildlife, including threatened and endangered species, are expected as
a result of the West Hastings research MVA activities. Affected
habitats at these locations have been disturbed by past and ongoing
industrial and oil production activities. Operations activities are
expected to have negligible impacts to biological resources.
Cultural Resources
Construction of the Gasification Plant and Lake Charles CCS Capture
and Compression facilities would disturb a portion of one cultural
resource site located within the areas of potential
[[Page 1859]]
effects (APEs). The Louisiana Site Historic Preservation Officer (SHPO)
concurred with the determination that the site was not eligible for
listing on the National Register of Historic Places (NRHP) and that no
further investigations were necessary. Operation of the plant and
facilities would have no impacts on cultural resources or historic
properties. DOE initiated consultation with 13 federally recognized
Native American tribes in Louisiana, Texas, and other states in
accordance with Section 106 of the National Historic Preservation Act
of 1966, as amended. The Choctaw Nation of Oklahoma was the only tribe
to respond to the consultation letter for the proposed action. It
concurred with the finding of no historic properties affected at this
time and agreed that the project should move ahead as planned. Leucadia
must include a provision in its construction plans for its contractors
that require them to immediately notify LCCE if identifiable tribal
artifacts or remains are found during construction. If notified of any
such discoveries, Leucadia must inform the SHPO and the Choctaw Nation
to ensure the artifacts or remains are handled appropriately.
Construction of the CCS CO2 pipeline would destroy one
archaeological site. However, the SHPO reviewed the results of the
Phase I cultural resources survey within the APE and concluded that the
site was not eligible for the NRHP. Construction of the CO2
pipeline also has the potential to result in direct, permanent,
negative impacts on the Hardey Family Cemetery. Denbury proposes to
avoid the direct impacts by directionally drilling beneath the cemetery
to avoid physical disturbance. Cemetery owners have indicated no
objection to construction of the proposed pipeline if there are no
surface operations and the HDD method is employed to a depth of at
least 25 feet below the surface of the cemetery.
Construction and operation of the CO2 pipeline would
have minor impacts on cultural resources. Operation of the West
Hastings research MVA program would have no impacts on cultural
resources because none were identified within the MVA area.
Leucadia, in coordination with DOE, must continue consultation with
the SHPO for areas not previously surveyed for cultural resources. This
may occur if the currently proposed pipeline route needs to be altered
or for other unforeseen areas of ground disturbance not analyzed in the
EIS. Leucadia must complete any additional surveys prior to
construction in such areas.
Land Use
Construction and operation of the Gasification Plant and
CO2 Capture and Compression facilities would not conflict
with current and future land use plans and/or zoning ordinances of
Calcasieu Parish. Impacts on residences would be negligible due to the
distance between residential areas and the construction site.
Construction of the raw water pipeline would impact a total of 122
acres of land, including 24 acres of permanent ROW and 98 acres of
temporary ROW. Construction of the hydrogen pipeline would impact a
total of 77 acres of land, including 51 acres of permanent ROW and
approximately 26 acres of temporary ROW. To reduce impacts on
surrounding land and properties, approximately 76 percent of the water
supply pipeline route and 99 percent of the hydrogen pipeline route
would follow existing ROWs. Temporary visual impacts would result due
to construction and ground disturbance. Impacts on cropland would be
temporary, and active cropland would revert to preconstruction use for
the full width of the ROWs. Construction would not impact special land
uses such as recreation areas, public lands, historic sites, and
protected water bodies. Leucadia must use BMPs including dust
suppression techniques to control the dust generated by construction.
Leucadia must revegetate the pipeline ROWs and adjacent properties to
pre-construction conditions and vegetate and maintain new ROW areas.
Operation of the Gasification Plant and Lake Charles CCS CO2
Capture and Compression facilities would be compatible with the
surrounding industrial properties and would have no or negligible
impacts on surrounding land uses. Occasional maintenance of the water
supply and hydrogen pipelines may require access to buried portions of
the lines. Leucadia would coordinate with property owners to minimize
potential disturbances. The ROWs and adjacent properties would be
restored to pre-construction conditions and maintained.
Construction of the CCS CO2 pipeline would cause short
term impacts on 50.62 acres of temporary ROW and long term impacts to
56.34 acres of permanent ROW. Construction activities would include use
of a 12.4 acre site for a warehouse yard and a 6.9-acre site at the
pipe storage yard. Construction of the CO2 pipeline would
result in the permanent conversion of 8.27 acres of forested land,
including 2.98 acres of forested wetland. Small areas of other
vegetation (i.e., scrub/shrub, pasture, and grassland) within the
construction ROW could be permanently impacted. Following construction,
approximately 50.62 acres of land within the temporary ROW would be
restored to previous conditions and uses. Active cropland would be
allowed to revert to preconstruction use in the full width of the ROW.
No special land uses such as recreation areas, public lands, historical
sites, or protected water bodies would be impacted by construction
activities. Denbury would avoid or minimize adverse impacts on land use
by locating the proposed CO2 pipeline within or adjacent to
existing utility ROWs with compatible land uses to the extent
practicable. Denbury has indicated that it would use BMPs to supplement
applicable regulatory requirements in order to minimize impacts on land
use during construction. Operation of the CO2 pipeline would
require that landowners not construct or place any structures within
the permanent ROW. Occasional maintenance may require access to buried
portions of the pipeline. Denbury would use BMPs during maintenance to
avoid or minimize impacts on adjacent land uses and residences.
Operation of the pipeline would have temporary and negligible impacts
on surrounding land uses during maintenance. The West Hastings Research
MVA activities are consistent with the existing commercial EOR
operations and would have negligible impacts on land uses in the
immediate and surrounding areas.
Traffic and Transportation
A temporary increase in traffic during construction of the
Gasification Plant and Lake Charles CCS Capture and Compression
facilities is expected from approximately 900 workers accessing the
off-site construction parking area and approximately 150 off-site
construction vehicles entering the LCCE Gasification site daily during
peak construction. No major short or long-term impacts to interstate,
multi-lane highway or two lane highway transportation resources are
expected to occur, although certain segments of local roadways
currently are in degraded conditions. Based on the estimated existing
and projected future level of service (LOS) of Ruth Street, the use of
this street during peak construction would degrade its LOS. For the
offsite construction parking area, Leucadia must operate shuttle buses
to reduce traffic congestion on local roadways and may be required to
obtain a temporary construction access permit from the Louisiana
Department of Transportation and Development (DOTD). To the extent
practicable, Leucadia must schedule heavy
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equipment deliveries during off peak hours, start work shifts at non-
peak hours, stagger arrival times at the off-site construction parking
area, request that personnel use roadways with LOS of A, B, or C, and
coordinate traffic congestion with Louisiana DOT District 7.
Construction of the water supply and hydrogen pipelines may cause
short-term, minor traffic delays from large, slow-moving heavy
equipment and delivery trucks. Leucadia must ensure adequate notice to
landowners and drivers to maintain access to public roads.
During operations, additional traffic from 187 personnel and
approximately 127 material deliveries would be negligible compared to
the current traffic. The estimated total ship traffic for the
Gasification Plant is 12 trips per year or approximately 1.2 percent of
the current vessel traffic at the Port of Lake Charles.
A temporary minor increase in traffic during construction of the
CO2 pipeline is expected from an average of approximately
100 personnel and 10 trucks accessing the route daily. Denbury has
indicated that it would minimize impacts through various measures that
ensure adequate notice to landowners and drivers to maintain access to
public roads. Periodic maintenance of the ROW would include slow-moving
mowers and occasional maintenance vehicles. Impacts on local traffic
related to 14 new personnel hired by Denbury to perform the MVA
activities, as well as personnel that would conduct temporary site
visits, would be negligible.
Noise
Sound levels for general construction of the Gasification Plant and
Lake Charles CCS Capture and Compression facilities at the closest
noise-sensitive, residential receptor are expected to be 58 average-
weighted decibels [dBA], which exceeds the 55 dBA EPA guideline.
However, a noise study indicated that the current background noise
level at the nearest receptor (60 dBA) also exceeds the EPA guideline.
As a temporary daytime occurrence, construction noise of this magnitude
would likely be imperceptible, and impacts would be negligible.
Increased truck traffic during daytime hours would cause a temporary
increase in noise at a limited number of residences and the impacts are
expected to be negligible. Residences within 500 to 1,000 feet of
construction of the water supply and hydrogen pipelines would
experience a short-term increase in ambient noise and vibrations from
construction activity. Receptors near HDD locations could experience
elevated temporary ambient noise levels as high as 78 dBA. Noise
minimization measures would be used to reduce levels by approximately
10 dBA. Leucadia must minimize noise levels by limiting construction
activities to daylight hours, as practicable, requiring contractors to
minimize construction noise and maintain equipment in good working
order, and utilizing temporary sound barriers. If necessary, Leucadia
must obtain a variance from Calcasieu Parish for operating HDD
equipment during evening and weekend hours. Typical sound levels for
the equipment to be used during operation of the LCCE Gasification
plant and CO2 capture and compression facilities can exceed
120 dBA. Leucadia must implement engineering design and noise
minimization measures to limit the levels such that the combination of
noise from the plant and existing ambient noise would not exceed 58 dBA
at the nearest noise-sensitive receptor during operation.
During the CCS CO2 pipeline construction, noise levels
may exceed the EPA guideline of 55 dBA at some residences. HDD
activities may need to be conducted in the evening or weekends within
165 feet of a residence or noise sensitive area, which is prohibited by
Calcasieu and Cameron Parishes without a variance. Noise minimization
measures would be implemented to achieve up to a 10 dBA reduction. As a
temporary daytime occurrence, noise from construction of the
CO2 pipeline would have short-term, minor impacts on noise
receptors. The impacts from traffic noise during construction would be
negligible because a majority of the pipeline route traverses rural
areas. No noise above ambient levels would be generated by operation of
the CO2 pipeline. Noise impacts from equipment and vehicles
used during inspection and maintenance activities would be negligible.
Noise produced by equipment during conversion and reworking of
wells for the West Hastings Research MVA Program is not expected to
exceed the EPA guideline more than 1,000 feet from the equipment.
Construction noise of this magnitude would likely be imperceptible,
given the industrial setting, and the on-going commercial EOR
operations. Therefore, the potential noise from the research MVA well
reworking would result in negligible impacts. Traffic noise may
increase for additional periodic sampling and monitoring activities,
but the increase would not be distinguishable from ambient noise levels
and would be negligible.
Waste Management
Approximately 2,640 cubic yards of nonhazardous waste and small
quantities of hazardous waste would be generated annually during the 3-
year construction period of the Gasification Plant and Lake Charles CCS
Capture and Compression facilities, or less than 0.0002 percent of the
available landfill capacity in Calcasieu Parish. Leucadia must require
construction contractors to develop a Waste Management Plan that
includes specifications for handling, containment, and disposal of all
wastes generated during construction of the Gasification Plant and CCS
Capture and Compression facilities. Approximately 65,000 tons (75,000
cubic yards) of nonhazardous waste generated annually during operation
represents 0.6 percent of the total landfill capacity in Calcasieu
Parish. Approximately 1,500 cubic yards of potentially hazardous waste
would be generated annually during operation, or less than 0.03 percent
of the capacity of the hazardous waste landfills in Calcasieu Parish.
Leucadia must implement a program to reduce, reuse, and recycle waste
materials to the extent practicable.
Portions of the CCS CO2 pipeline would be constructed
using HDD and a bentonite slurry that would be recycled, spread in
upland areas as a soil supplement, if permitted, or removed and
disposed of at a local permitted solid waste landfill. Construction and
operation would not create hazardous wastes in quantities that would
require a RCRA permit. Disposal of nonhazardous and potentially
hazardous wastes generated by construction and operation of the
proposed CO2 pipeline would have a negligible impact on the
capacity or management of hazardous or solid waste services and
landfills in the area.
The West Hastings research MVA activities would involve drilling
equipment to plug back, recondition, and re-complete existing wells.
Research MVA activities could generate waste streams, including
drilling mud and produced water during well construction. Produced
water and light sediment would be pumped into trucks and hauled off-
site by a licensed contractor for disposal. Excess drilling mud would
be collected and stabilized in steel tanks and transported off-site to
a designated local solid waste landfill. No hazardous waste would be
generated as a result of the research MVA activities. Impacts related
to the disposal of drill cuttings and treatment of the produced water
generated during
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the reworking of existing wells would not require the use of unique
waste disposal or treatment technologies and would result in negligible
impacts on the capacity and management of landfills and disposal
facilities in the area.
Potential Environmental Impacts of the No Action Alternative
Under no action sub-alternative 1, Leucadia would build neither the
Gasification Plant nor the Lake Charles CCS project. The resources
necessary for construction would be available for construction of other
industrial projects in this area or elsewhere. The Port of Lake Charles
would continue to ship pet coke worldwide for use as fuel in power
plants. The use of pet coke in conventional power plants would likely
emit more air emissions than its use in the Gasification Plant because
of the stringent emission requirements imposed on the plant compared to
conventional power plants. Environmental conditions would not change.
The impacts to the community from noise, traffic, air emissions, and
disruption of land use, jobs, and economic development would not occur.
The impacts on the environment from air emissions, disruption of
wildlife, use of surface water, discharge of wastewater, and loss of
wetlands would not occur. Denbury would continue to inject
CO2 obtained from geologic sources in its ongoing EOR
operations. The Lake Charles CCS project would not fund a research MVA
program at the West Hastings oil field. Sub-alternative 1 of the no
action alternative would not contribute to the demonstration of the
next generation of technologies to capture CO2 from
industrial sources.
Under no action sub-alternative 2, Leucadia would build the
Gasification Plant and vent the CO2 to the atmosphere. The
impacts from the construction and operation of the Gasification Plant
would still occur. Leucadia would still capture the CO2 from
the syngas using Rectisol[supreg]. Leucadia would route the
CO2 stream to discharge to the atmosphere under the current
air permit issued by LDEQ. Approximately 5.2 million tons of
CO2 would be emitted per year from the carbon capture
technology that would otherwise be captured. Emissions produced by the
construction of the pipeline, and indirect emissions associated with
electricity use by the CO2 capture and compression facility,
would not occur. No impacts related to construction of the
CO2 pipeline would occur. Denbury would continue to inject
CO2 obtained from geologic sources in its ongoing EOR
operations. The Lake Charles CCS project would not fund a research MVA
program at the West Hastings oil field. If the CCS project is not
built, the opportunity to capture an average of 4.6 million tons of
anthropogenic CO2 per year over the 30 year life of the
Gasification Plant for use in EOR would be lost. Sub-alternative 2
would not contribute to DOE's goal of demonstrating the next generation
of technologies that capture CO2 emissions from industrial
sources.
Environmentally Preferred Alternative
From a local perspective, no action sub-alternative 1 is the
environmentally preferable alternative because it would result in no
changes to existing environmental conditions. However, from a national
perspective, DOE's proposed action is the environmentally preferred
alternative. Successful operation of the proposed project could
facilitate the deployment of advanced technology integrated with an
industrial source to capture CO2 that would otherwise be
emitted to the atmosphere.
Floodplain Statement of Findings
DOE prepared this floodplain statement of findings in accordance
with its regulations entitled ``Compliance With Floodplain and Wetland
Environmental Review Requirements'' (10 CFR 1022). DOE completed the
required floodplain assessment in coordination with development and
preparation of the EIS, and incorporated the results and discussion in
Sections 3.4, 4.4, and Appendix E of the final EIS.
Based on the FEMA Flood Insurance Map and Rita Recovery Maps, the
Gasification Plant and the CO2 Capture and Compression
facilities site's Advisory Base Flood Elevation (ABFE) is 10 feet above
mean sea level (MSL). The Gasification Plant and Capture and
Compression site would be filled to an elevation that is above the
ABFE. The 120-acre area, which would include 40 acres for equipment
laydown during construction and methanol/sulfuric acid storage during
operation, is within the 100-year floodplain of the Calcasieu River.
DOE assumes that the site would continue to be filled above the base
flood elevation set by FEMA. Given the relative size of the 70-acre
site and the 40-acre site compared to the designated floodway of 8
miles along the Calcasieu ship channel and 3,976 acres drainage area,
the fill would not result in a measurable increase in the upstream base
flood elevation as determined by FEMA, nor have a measurable effect on
the performance of the designated floodway. The proposed water and
hydrogen pipelines associated with Gasification Plant would be
installed below ground within the 100-year floodplain of Bayou d'Inde
and Calcasieu River.
The proposed CCS CO2 pipeline route is located in
proximity to the floodplains of Bayou d'Inde, the Houston River, and
the Calcasieu River, and much of the proposed route is located within
100-year floodplains of the Calcasieu River and its tributaries. The
proposed pipeline would be installed below ground, therefore no
alteration of infiltration rates and no substantial decrease in the
volume of surface water that flows downstream would result.
Approximately one-third of the West Hastings research MVA area,
including two proposed well locations, is within the 100-year
floodplain of Chigger Creek. However, research MVA activities would not
increase the potential for floods, alter a floodway or floodplain, or
otherwise impede or redirect flows such that human health, the
environment, or personal property could be affected. Activities would
be conducted on existing wells and no new construction would occur.
As a result of location requirements, i.e., being adjacent to
navigable waters and existing rail, road, and pipeline infrastructure,
the proposed project and connected action were found to have no
practicable siting alternatives. Based upon DOE's review and the
project proponents' coordination with the local floodplain
administrator and local USACE District, and adoption of minimization
measures, DOE's proposed action would not result in potential harm to
or within floodplains.
Issued in Pittsburgh, PA on this 28 day of December 2013.
Scott M. Klara,
Acting Director, National Energy Technology Laboratory.
[FR Doc. 2014-00299 Filed 1-9-14; 8:45 am]
BILLING CODE 6450-01-P