Record of Decision for Upper Great Plains Wind Energy Final Programmatic Environmental Impact Statement (DOE/EIS-0408), 51800-51802 [2015-21131]
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Dated: August 19, 2015.
Nathaniel J. Davis, Sr.,
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[FR Doc. 2015–21110 Filed 8–25–15; 8:45 am]
BILLING CODE 6717–01–P
DEPARTMENT OF ENERGY
Western Area Power Administration
Record of Decision for Upper Great
Plains Wind Energy Final
Programmatic Environmental Impact
Statement (DOE/EIS–0408)
Western Area Power
Administration, DOE.
ACTION: Record of Decision.
AGENCY:
The Western Area Power
Administration (Western) and the U.S.
Fish and Wildlife Service (Service), as
joint lead agencies, issued the Upper
Great Plains Wind Energy Final
Programmatic Environmental Impact
Statement (Final PEIS) (DOE/EIS–0408)
on May 1, 2015. Western has decided to
implement Alternative 1 as described in
the Final PEIS and summarized in this
Record of Decision (ROD). Alternative 1
was identified as both the agency
preferred alternative and the
environmentally preferred alternative.
FOR FURTHER INFORMATION CONTACT: For
information on Western’s proposed
programmatic environmental evaluation
procedures for wind energy project
interconnections and general
information about interconnections with
Western’s transmission system, contact
Matt Marsh, Regional Environmental
Manager, Upper Great Plains Customer
Service Region, Western Area Power
Administration, P.O. Box 35800,
Billings, MT 59107–5800, telephone
(406) 255–2810, email mmarsh@
wapa.gov. The Final PEIS, this ROD,
and other project documents are
available for review on Western’s Web
site at https://www.wapa.gov/regions/
UGP/Environment/Pages/ugp-nepa.aspx
and the project Web site at https://
plainswindeis.anl.gov.
For general information on the U.S.
Department of Energy (DOE) National
Environmental Policy Act (NEPA)
process, please contact 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 (800) 472–2756, email
askNEPA@hq.doe.gov.
rmajette on DSK7SPTVN1PROD with NOTICES
SUMMARY:
VerDate Sep<11>2014
14:29 Aug 25, 2015
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Western
and the Service, as joint lead agencies,
prepared the Upper Great Plains Wind
Energy Draft and Final PEIS (DOE/EIS–
0408), the Final PEIS being issued May
1, 2015 (80 FR 24915), in response to an
increase in wind energy development
and interconnection requests. Western
and the Service have interests in
streamlining their procedures for
conducting environmental reviews of
wind energy applications by
implementing standardized evaluation
procedures and identifying measures to
address potential environmental
impacts associated with wind energy
projects in the Upper Great Plains
Region (UGP Region), which
encompasses all or parts of the states of
Iowa, Minnesota, Montana, Nebraska,
North Dakota, and South Dakota. Since
formalizing the process and procedures
for environmental reviews would be
Federal actions, Western and the
Service prepared the PEIS in accordance
with the National Environmental Policy
Act of 1969 (NEPA) (42 U.S.C. 4321–
4347), as amended, and the Council on
Environmental Quality (CEQ) NEPA
regulations (40 CFR parts 1500–1508).
The Bureau of Reclamation, Bureau of
Indian Affairs, and the Rural Utilities
Service have participated in the
development of the PEIS as cooperating
agencies.
Western and the Service have
cooperatively prepared the PEIS to: (1)
Assess the potential environmental
impacts associated with wind energy
projects within the UGP Region that
may interconnect to Western’s
transmission system, or that may
propose placement of project elements
on grassland or wetland easements
managed by the Service; and (2)
evaluate how environmental impacts
would differ under alternative sets of
environmental evaluation procedures,
best management practices, avoidance
strategies, and mitigation measures that
the agencies would request project
developers to implement, as
appropriate, for specific wind energy
projects.
The objective of the PEIS is to
proactively strengthen and streamline
the environmental review process by
having already analyzed and addressed
general environmental concerns while
specifically providing for Endangered
Species Act (ESA) (16 U.S.C. 1531 et
seq.) compliance for wind development
projects that incorporate design
elements to reduce impacts. The PEIS
analyzes, to the extent practicable, the
impacts resulting from development of
wind energy projects and the
effectiveness of best management
practices, avoidance of sensitive areas,
SUPPLEMENTARY INFORMATION:
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Fmt 4703
Sfmt 4703
and mitigation measures in reducing
potential impacts. Impacts and
mitigation have been analyzed for each
environmental resource, and all
components of wind energy projects
have been addressed, including
turbines, transformers, collector lines,
overhead lines, access roads, substation
installations, and operational and
maintenance activities. Many of the
potential impacts resulting from
constructing and operating these types
of wind energy infrastructure are well
known from existing wind energy
generation projects. The environmental
procedures and mitigation strategies
developed have been structured to be
consistent with Western’s Open Access
Transmission Service Tariff and
Southwest Power Pool, Inc.’s (SPP)
Open Access Transmission Tariff, both
of which include environmental review
provisions.1
In addition to the PEIS, Western and
the Service engaged in informal
consultation under Section 7 of the
ESA, 16 U.S.C. 1536, in support of the
PEIS process. A programmatic biological
assessment (Programmatic BA) was
prepared for listed and candidate
species occurring in the UGP Region.
Development of the Programmatic BA
was closely coordinated with the
Service’s North Dakota Ecological
Services Field Office. That office issued
a letter of concurrence with the
Programmatic BA on July 7, 2015, as a
result of this consultation.
The agencies also investigated a
programmatic approach to Section 106
consultation under the National Historic
Preservation Act (NHPA), 54 U.S.C.
306108. Since Section 106 consultation
is highly site-specific, it was determined
that effective consultation could only be
accomplished once an individual
project location was defined. However,
general avoidance and protection
measures for cultural resources and
historic properties that would be
implemented were identified and
included in the analysis.
Purpose and Need
Western’s purpose and need for
Federal action was presented in the
Draft and Final PEIS: Western needs to
streamline the environmental review
process for wind energy project
interconnection requests to help
1 Western’s UGP Region has signed a membership
agreement with SPP with a target date of
transferring the functional control of its facilities in
the eastern interconnection to SPP on October 1,
2015. Thereafter interconnection requests would be
pursuant to the SPP tariff. Revisions to the SPP
tariff incorporate Western’s requirement that it will
still perform NEPA reviews on interconnections
associated with its facilities.
E:\FR\FM\26AUN1.SGM
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Federal Register / Vol. 80, No. 165 / Wednesday, August 26, 2015 / Notices
rmajette on DSK7SPTVN1PROD with NOTICES
expedite wind energy resource
development in the UGP Region while
maintaining environmental protections.
Description of Alternatives
Four alternatives, including the No
Action Alternative, were analyzed in the
PEIS and are briefly described below.
More detailed information on the
alternatives may be found in the Final
PEIS, which can be accessed from the
Web site provided above.
No Action Alternative: Under the No
Action Alternative, Western would
continue to consider wind energy
project interconnection requests under
the procedures currently used to
evaluate and address the environmental
impacts associated with wind energy
projects. Requests would be processed,
reviewed, and evaluated on a case-bycase basis, including separate NEPA,
ESA Section 7, and NHPA Section 106
reviews performed for each specific
project.
Alternative 1—Preferred Alternative:
Under Alternative 1, Western would
adopt a standardized process for
collecting information and evaluating
and reviewing environmental impacts of
wind energy interconnection requests.
Best management practices and
mitigation measures developed in the
PEIS programmatic process would be
employed to minimize the potential
environmental impacts of wind energy
interconnection projects. Projectspecific NEPA analyses, either
environmental assessments (EAs) or
streamlined EISs, would tier off
(eliminate repetitive discussions of the
same issues) the analyses in the Final
PEIS as long as the appropriate
identified conservation measures were
implemented as part of proposed
projects. In accordance with 40 CFR
1502.20, these project-specific NEPA
documents would summarize the
information and issues covered in the
Final PEIS or incorporate relevant
discussions by reference. This approach
would allow for more efficient NEPA
documents that would properly focus
on local or site-specific issues. The
decision to pursue a tiered EA or EIS
would be made similar to any other
proposal. If the potential for new
significant impact appeared low, then
an EA process could be initiated, with
the understanding that the identification
of any potentially new significant
impact would require transition to an
EIS process. It is anticipated that the
tiered NEPA document in most
instances will be an EA. If there
appeared to be a potential for new
significant environmental impact, based
on the project description and site
location, then a tiered EIS process
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14:29 Aug 25, 2015
Jkt 235001
would be initiated. Western may
minimize the risk of project and
schedule impacts from such a transition
by conducting public scoping—
informing the public about a federal
action and soliciting public comments—
when using a tiered EA process.
Project-specific ESA Section 7
consultations would utilize the
Programmatic BA so long as the
applicable best management practices,
minimization measures, mitigation
measures, and monitoring requirements
established in the Programmatic BA
were implemented. Project proponents
who could not agree to the requirements
in the Programmatic BA would be
required to conduct a separate ESA
Section 7 consultation with the Service.
NHPA Section 106 and related tribal
consultation would continue unchanged
from the present practices; since
cultural resources issues are very sitespecific, it was not possible to address
them programmatically beyond
including general avoidance and
protection measures and committing to
the established processes and
procedures.
The primary objective of Alternative 1
was to collect relevant natural resources
information; evaluate the typical
impacts of wind energy projects and
associated facilities on those resources;
identify effective best management
practices, minimization measures, and
mitigation measures that could reduce
impacts; provide information about
areas that would be more sensitive to
development impacts and encourage
avoidance of siting projects in these
areas; and have all this material
available to support site-specific tiered
environmental reviews. The parallel
Programmatic BA would similarly
expedite the ESA Section 7 consultation
by having previously established
minimization measures, mitigation
measures, and monitoring requirements,
by species, that if committed to and
implemented would constitute
compliance with ESA Section 7 without
a separate consultation.
Alternative 2: Alternative 2 would be
exactly the same as Alternative 1 for
Western. However, under Alternative 2
the Service would not allow easement
exchanges to accommodate the
development of wind energy facilities.
By comparison, Alternative 1 would
provide a standardized process for the
Service to allow easement exchanges,
and facilitate wind energy development
while retaining or enhancing the habitat
and wildlife values the easement
program was designed to provide. The
differences in the Service’s approach to
siting on easements do not affect
Western’s decision, and Western’s
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Frm 00037
Fmt 4703
Sfmt 4703
51801
actions would be the same under both
alternatives.
Alternative 3: Under Alternative 3,
separate project-specific NEPA
evaluations would be required for each
interconnection request. Western would
not request additional best management
practices or mitigation measures of
wind energy developers beyond those
mandated under applicable Federal,
State, and local regulations. More effort
would be required to produce sitespecific NEPA documents because of
the reduced scope of the PEIS, and time
frames for the site-specific documents
would be extended accordingly. In
essence Alternative 3 is a minimalist
programmatic approach that would
incorporate all mandated environmental
review requirements, but would not
extend beyond them. Any mandated or
required provisions included in either
Alternative 1 or 2 are also incorporated
in Alternative 3.
Since the proposed action is
programmatic in nature and did not
include on-the-ground activities, no
direct impacts to the human
environment would occur under any of
the PEIS alternatives. However, the PEIS
analysis identified generic wind energy
development impacts and evaluated a
large number of best management
practices and avoidance, minimization,
and mitigation measures. Alternative 1
is the environmentally preferred
alternative because it develops
comprehensive procedures and
mitigation measures, results in
consistency of the application and
authorization process, and supports
wind energy development by facilitating
the understanding of the requirements
for approval by potential wind energy
project developers. The development of
renewable energy resources is a priority
national policy, and Alternative 1
supports that objective. One of the
objectives of the proposed action was to
avoid or minimize environmental harm
from future wind energy projects, and
that objective is best met by
Alternative 1.
Decision
Western has determined that
Alternative 1, the agency preferred
alternative, best meets the agency’s
needs. Alternative 1 is also the
environmentally preferred alternative,
and would afford the greatest protection
for environmental resources that would
be impacted by future wind energy
projects. Therefore, it is Western’s
decision to implement Alternative 1,
and use the program defined by that
alternative for all applicable future wind
E:\FR\FM\26AUN1.SGM
26AUN1
51802
Federal Register / Vol. 80, No. 165 / Wednesday, August 26, 2015 / Notices
energy project interconnection requests
in the UGP Region.2
This decision is based on the
information contained in the Upper
Great Plains Wind Energy Final PEIS.
This ROD was prepared pursuant to the
requirements of the CEQ Regulations for
Implementing NEPA § 1505.2 and DOE’s
NEPA implementing procedures, 10
CFR 1021 et seq.
Dated: August 17, 2015.
Mark A. Gabriel,
Administrator.
[FR Doc. 2015–21131 Filed 8–25–15; 8:45 am]
BILLING CODE 6450–01–P
ENVIRONMENTAL PROTECTION
AGENCY
[FRL–9933–10–ORD]
Office of Research and Development;
Ambient Air Monitoring Reference and
Equivalent Methods: Designation of a
Two New Equivalent Methods
Environmental Protection
Agency, (EPA).
ACTION: Notice of designation of two
new equivalent methods for monitoring
ambient air quality.
AGENCY:
Notice is hereby given that
the Environmental Protection Agency
(EPA) has designated, in accordance
with 40 CFR part 53, two new
equivalent methods: one for measuring
concentrations of PM2.5 and one for
measuring concentrations of ozone (O3)
in the ambient air.
FOR FURTHER INFORMATION CONTACT:
Robert Vanderpool, Human Exposure
and Atmospheric Sciences Division
(MD–D205–03), National Exposure
Research Laboratory, U.S. EPA,
Research Triangle Park, North Carolina
27711. Email: Vanderpool.Robert@
epa.gov.
SUMMARY:
In
accordance with regulations at 40 CFR
part 53, the EPA evaluates various
methods for monitoring the
concentrations of those ambient air
pollutants for which EPA has
established National Ambient Air
Quality Standards (NAAQSs), as set
forth in 40 CFR part 50. Monitoring
methods that are determined to meet
specific requirements for adequacy are
designated by the EPA as either
reference methods or equivalent
methods (as applicable), thereby
rmajette on DSK7SPTVN1PROD with NOTICES
SUPPLEMENTARY INFORMATION:
2 On November 16, 2011, DOE’s Acting General
Counsel restated the delegation to Western’s
Administrator of all the authorities of the General
Counsel with respect to environmental impact
statements.
VerDate Sep<11>2014
14:29 Aug 25, 2015
Jkt 235001
permitting their use under 40 CFR part
58 by States and other agencies for
determining compliance with the
NAAQSs.
The EPA hereby announces the
designation of two new equivalent
methods for measuring pollutant
concentrations in the ambient air: One
for PM2.5 and one for ozone. These
designations are made under the
provisions of 40 CFR part 53, as
amended on August 31, 2011 (76 FR
54326–54341).
The new PM2.5 Class III equivalent
method is nearly identical to a
corresponding Met One sampler
(EQPM–1013–209) that had been
previously designated by EPA as an
equivalent method sampler for PM2.5.
The significant difference is that the
newly designated PM2.5 equivalent
method sampler is configured to use an
URG–2000–30EGN PM2.5 as the
principle size separator (fractionator) for
the sampler rather than the WINS
impactor or the BGI VSCCTM used in the
corresponding PM2.5 equivalent method
sampler. The newly designated Class III
equivalent method is identified as
follows:
EQPM–0715–266, Met One
Instruments, Inc. BAM–1020 Beta
Attenuation Mass Monitor—PM2.5 FEM
Configuration,’’ configured for 24 1-hour
average measurements of PM2.5 by beta
attenuation, using a glass fiber filter tape
roll (460130 or 460180) and a sample
flow rate of 16.67 liters/min and with
the standard (BX–802) EPA PM10 inlet
(meeting 40 CFR 50 Appendix L
specifications) and with an URG–2000–
30EGN PM2.5 (BX–809) cyclonic
separator, BX–596 combo T/RH sensor,
BX–827(110V) or BX–830(230V).
Instrument must be operated in
accordance with the BAM 1020
Particulate Monitor operation manual,
revision k or later. This PM2.5 equivalent
method designation only applies to the
BAM–1020 configured with the URG–
2000–30EGN cyclone.
In the particular case of the new Met
One Class III PM2.5 equivalent method,
a corresponding Met One PM2.5
equivalent method sampler (RFPS–
1013–209) may be converted to the
equivalent method configuration by
replacement of the WINS impactor or
the VSCCTM cyclone with the URG–
2000–30EGN cyclone specified in the
equivalent method description. The
URG–2000–30EGN cyclone should be
purchased from the sampler
manufacturer, who will also furnish
installation, conversion, operation, and
maintenance instructions for the URG–
2000–30EGN cyclone, as well as a new
equivalent method identification label
to be placed on the sampler. If the
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Frm 00038
Fmt 4703
Sfmt 4703
conversion is to be permanent, the
original designation equivalent method
label should be removed from the
sampler and replaced with the new
designated equivalent method label.
The application for equivalent
method determination for the PM2.5
method was received by the Office of
Research and Development on June 18,
2015. This monitor is commercially
available from the applicant, Met One
Instruments, Inc., 1600 Washington
Blvd., Grants Pass, OR 97526.
The new Ozone equivalent method is
an automated monitoring method
(analyzer) utilizing a measurement
principle based on based on nondispersive ultraviolet absorption
photometry. The newly designated
equivalent method is identified as
follows:
EQOA–0815–227, ‘‘2B Technologies
Model Personal Ozone Monitor (POM),’’
operated in a range of 0–0.5 ppm in an
environment of 20–30 °C, temperature
and pressure compensation, using a 10
second averaging time, with a 12V DC
source supplied by a 100–240V AC
power adapter, operated according to
the POM Operation Manual and with or
without the following: Cigarette lighter
adapter or a 12V DC battery or a 7–24
V battery for portable operation, USB
data port with computer cable.
The application for equivalent
method determination for the ozone
method was received by the Office of
Research and Development on
September 18, 2013. This analyzer is
commercially available from the
applicant, 2B Technology, Inc., 2100
Central Ave., Suite 105, Boulder, CO
80303.
Test monitors representative of these
methods have been tested in accordance
with the applicable test procedures
specified in 40 CFR part 53, as amended
on August 31, 2011. After reviewing the
results of those tests and other
information submitted in the
application, EPA has determined, in
accordance with part 53, that these
methods should be designated as
equivalent methods.
As designated equivalent methods,
these methods are acceptable for use by
states and other air monitoring agencies
under the requirements of 40 CFR part
58, Ambient Air Quality Surveillance.
For such purposes, the method must be
used in strict accordance with the
operation or instruction manual
associated with the method and subject
to any specifications and limitations
(e.g., configuration or operational
settings) specified in the applicable
designated method descriptions (see the
identification of the methods above).
E:\FR\FM\26AUN1.SGM
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Agencies
[Federal Register Volume 80, Number 165 (Wednesday, August 26, 2015)]
[Notices]
[Pages 51800-51802]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2015-21131]
-----------------------------------------------------------------------
DEPARTMENT OF ENERGY
Western Area Power Administration
Record of Decision for Upper Great Plains Wind Energy Final
Programmatic Environmental Impact Statement (DOE/EIS-0408)
AGENCY: Western Area Power Administration, DOE.
ACTION: Record of Decision.
-----------------------------------------------------------------------
SUMMARY: The Western Area Power Administration (Western) and the U.S.
Fish and Wildlife Service (Service), as joint lead agencies, issued the
Upper Great Plains Wind Energy Final Programmatic Environmental Impact
Statement (Final PEIS) (DOE/EIS-0408) on May 1, 2015. Western has
decided to implement Alternative 1 as described in the Final PEIS and
summarized in this Record of Decision (ROD). Alternative 1 was
identified as both the agency preferred alternative and the
environmentally preferred alternative.
FOR FURTHER INFORMATION CONTACT: For information on Western's proposed
programmatic environmental evaluation procedures for wind energy
project interconnections and general information about interconnections
with Western's transmission system, contact Matt Marsh, Regional
Environmental Manager, Upper Great Plains Customer Service Region,
Western Area Power Administration, P.O. Box 35800, Billings, MT 59107-
5800, telephone (406) 255-2810, email mmarsh@wapa.gov. The Final PEIS,
this ROD, and other project documents are available for review on
Western's Web site at https://www.wapa.gov/regions/UGP/Environment/Pages/ugp-nepa.aspx and the project Web site at https://plainswindeis.anl.gov.
For general information on the U.S. Department of Energy (DOE)
National Environmental Policy Act (NEPA) process, please contact 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 (800) 472-2756, email
askNEPA@hq.doe.gov.
SUPPLEMENTARY INFORMATION: Western and the Service, as joint lead
agencies, prepared the Upper Great Plains Wind Energy Draft and Final
PEIS (DOE/EIS-0408), the Final PEIS being issued May 1, 2015 (80 FR
24915), in response to an increase in wind energy development and
interconnection requests. Western and the Service have interests in
streamlining their procedures for conducting environmental reviews of
wind energy applications by implementing standardized evaluation
procedures and identifying measures to address potential environmental
impacts associated with wind energy projects in the Upper Great Plains
Region (UGP Region), which encompasses all or parts of the states of
Iowa, Minnesota, Montana, Nebraska, North Dakota, and South Dakota.
Since formalizing the process and procedures for environmental reviews
would be Federal actions, Western and the Service prepared the PEIS in
accordance with the National Environmental Policy Act of 1969 (NEPA)
(42 U.S.C. 4321-4347), as amended, and the Council on Environmental
Quality (CEQ) NEPA regulations (40 CFR parts 1500-1508). The Bureau of
Reclamation, Bureau of Indian Affairs, and the Rural Utilities Service
have participated in the development of the PEIS as cooperating
agencies.
Western and the Service have cooperatively prepared the PEIS to:
(1) Assess the potential environmental impacts associated with wind
energy projects within the UGP Region that may interconnect to
Western's transmission system, or that may propose placement of project
elements on grassland or wetland easements managed by the Service; and
(2) evaluate how environmental impacts would differ under alternative
sets of environmental evaluation procedures, best management practices,
avoidance strategies, and mitigation measures that the agencies would
request project developers to implement, as appropriate, for specific
wind energy projects.
The objective of the PEIS is to proactively strengthen and
streamline the environmental review process by having already analyzed
and addressed general environmental concerns while specifically
providing for Endangered Species Act (ESA) (16 U.S.C. 1531 et seq.)
compliance for wind development projects that incorporate design
elements to reduce impacts. The PEIS analyzes, to the extent
practicable, the impacts resulting from development of wind energy
projects and the effectiveness of best management practices, avoidance
of sensitive areas, and mitigation measures in reducing potential
impacts. Impacts and mitigation have been analyzed for each
environmental resource, and all components of wind energy projects have
been addressed, including turbines, transformers, collector lines,
overhead lines, access roads, substation installations, and operational
and maintenance activities. Many of the potential impacts resulting
from constructing and operating these types of wind energy
infrastructure are well known from existing wind energy generation
projects. The environmental procedures and mitigation strategies
developed have been structured to be consistent with Western's Open
Access Transmission Service Tariff and Southwest Power Pool, Inc.'s
(SPP) Open Access Transmission Tariff, both of which include
environmental review provisions.\1\
---------------------------------------------------------------------------
\1\ Western's UGP Region has signed a membership agreement with
SPP with a target date of transferring the functional control of its
facilities in the eastern interconnection to SPP on October 1, 2015.
Thereafter interconnection requests would be pursuant to the SPP
tariff. Revisions to the SPP tariff incorporate Western's
requirement that it will still perform NEPA reviews on
interconnections associated with its facilities.
---------------------------------------------------------------------------
In addition to the PEIS, Western and the Service engaged in
informal consultation under Section 7 of the ESA, 16 U.S.C. 1536, in
support of the PEIS process. A programmatic biological assessment
(Programmatic BA) was prepared for listed and candidate species
occurring in the UGP Region. Development of the Programmatic BA was
closely coordinated with the Service's North Dakota Ecological Services
Field Office. That office issued a letter of concurrence with the
Programmatic BA on July 7, 2015, as a result of this consultation.
The agencies also investigated a programmatic approach to Section
106 consultation under the National Historic Preservation Act (NHPA),
54 U.S.C. 306108. Since Section 106 consultation is highly site-
specific, it was determined that effective consultation could only be
accomplished once an individual project location was defined. However,
general avoidance and protection measures for cultural resources and
historic properties that would be implemented were identified and
included in the analysis.
Purpose and Need
Western's purpose and need for Federal action was presented in the
Draft and Final PEIS: Western needs to streamline the environmental
review process for wind energy project interconnection requests to help
[[Page 51801]]
expedite wind energy resource development in the UGP Region while
maintaining environmental protections.
Description of Alternatives
Four alternatives, including the No Action Alternative, were
analyzed in the PEIS and are briefly described below. More detailed
information on the alternatives may be found in the Final PEIS, which
can be accessed from the Web site provided above.
No Action Alternative: Under the No Action Alternative, Western
would continue to consider wind energy project interconnection requests
under the procedures currently used to evaluate and address the
environmental impacts associated with wind energy projects. Requests
would be processed, reviewed, and evaluated on a case-by-case basis,
including separate NEPA, ESA Section 7, and NHPA Section 106 reviews
performed for each specific project.
Alternative 1--Preferred Alternative: Under Alternative 1, Western
would adopt a standardized process for collecting information and
evaluating and reviewing environmental impacts of wind energy
interconnection requests. Best management practices and mitigation
measures developed in the PEIS programmatic process would be employed
to minimize the potential environmental impacts of wind energy
interconnection projects. Project-specific NEPA analyses, either
environmental assessments (EAs) or streamlined EISs, would tier off
(eliminate repetitive discussions of the same issues) the analyses in
the Final PEIS as long as the appropriate identified conservation
measures were implemented as part of proposed projects. In accordance
with 40 CFR 1502.20, these project-specific NEPA documents would
summarize the information and issues covered in the Final PEIS or
incorporate relevant discussions by reference. This approach would
allow for more efficient NEPA documents that would properly focus on
local or site-specific issues. The decision to pursue a tiered EA or
EIS would be made similar to any other proposal. If the potential for
new significant impact appeared low, then an EA process could be
initiated, with the understanding that the identification of any
potentially new significant impact would require transition to an EIS
process. It is anticipated that the tiered NEPA document in most
instances will be an EA. If there appeared to be a potential for new
significant environmental impact, based on the project description and
site location, then a tiered EIS process would be initiated. Western
may minimize the risk of project and schedule impacts from such a
transition by conducting public scoping--informing the public about a
federal action and soliciting public comments--when using a tiered EA
process.
Project-specific ESA Section 7 consultations would utilize the
Programmatic BA so long as the applicable best management practices,
minimization measures, mitigation measures, and monitoring requirements
established in the Programmatic BA were implemented. Project proponents
who could not agree to the requirements in the Programmatic BA would be
required to conduct a separate ESA Section 7 consultation with the
Service. NHPA Section 106 and related tribal consultation would
continue unchanged from the present practices; since cultural resources
issues are very site-specific, it was not possible to address them
programmatically beyond including general avoidance and protection
measures and committing to the established processes and procedures.
The primary objective of Alternative 1 was to collect relevant
natural resources information; evaluate the typical impacts of wind
energy projects and associated facilities on those resources; identify
effective best management practices, minimization measures, and
mitigation measures that could reduce impacts; provide information
about areas that would be more sensitive to development impacts and
encourage avoidance of siting projects in these areas; and have all
this material available to support site-specific tiered environmental
reviews. The parallel Programmatic BA would similarly expedite the ESA
Section 7 consultation by having previously established minimization
measures, mitigation measures, and monitoring requirements, by species,
that if committed to and implemented would constitute compliance with
ESA Section 7 without a separate consultation.
Alternative 2: Alternative 2 would be exactly the same as
Alternative 1 for Western. However, under Alternative 2 the Service
would not allow easement exchanges to accommodate the development of
wind energy facilities. By comparison, Alternative 1 would provide a
standardized process for the Service to allow easement exchanges, and
facilitate wind energy development while retaining or enhancing the
habitat and wildlife values the easement program was designed to
provide. The differences in the Service's approach to siting on
easements do not affect Western's decision, and Western's actions would
be the same under both alternatives.
Alternative 3: Under Alternative 3, separate project-specific NEPA
evaluations would be required for each interconnection request. Western
would not request additional best management practices or mitigation
measures of wind energy developers beyond those mandated under
applicable Federal, State, and local regulations. More effort would be
required to produce site-specific NEPA documents because of the reduced
scope of the PEIS, and time frames for the site-specific documents
would be extended accordingly. In essence Alternative 3 is a minimalist
programmatic approach that would incorporate all mandated environmental
review requirements, but would not extend beyond them. Any mandated or
required provisions included in either Alternative 1 or 2 are also
incorporated in Alternative 3.
Since the proposed action is programmatic in nature and did not
include on-the-ground activities, no direct impacts to the human
environment would occur under any of the PEIS alternatives. However,
the PEIS analysis identified generic wind energy development impacts
and evaluated a large number of best management practices and
avoidance, minimization, and mitigation measures. Alternative 1 is the
environmentally preferred alternative because it develops comprehensive
procedures and mitigation measures, results in consistency of the
application and authorization process, and supports wind energy
development by facilitating the understanding of the requirements for
approval by potential wind energy project developers. The development
of renewable energy resources is a priority national policy, and
Alternative 1 supports that objective. One of the objectives of the
proposed action was to avoid or minimize environmental harm from future
wind energy projects, and that objective is best met by Alternative 1.
Decision
Western has determined that Alternative 1, the agency preferred
alternative, best meets the agency's needs. Alternative 1 is also the
environmentally preferred alternative, and would afford the greatest
protection for environmental resources that would be impacted by future
wind energy projects. Therefore, it is Western's decision to implement
Alternative 1, and use the program defined by that alternative for all
applicable future wind
[[Page 51802]]
energy project interconnection requests in the UGP Region.\2\
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\2\ On November 16, 2011, DOE's Acting General Counsel restated
the delegation to Western's Administrator of all the authorities of
the General Counsel with respect to environmental impact statements.
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This decision is based on the information contained in the Upper
Great Plains Wind Energy Final PEIS. This ROD was prepared pursuant to
the requirements of the CEQ Regulations for Implementing NEPA Sec.
1505.2 and DOE's NEPA implementing procedures, 10 CFR 1021 et seq.
Dated: August 17, 2015.
Mark A. Gabriel,
Administrator.
[FR Doc. 2015-21131 Filed 8-25-15; 8:45 am]
BILLING CODE 6450-01-P