Surface Transportation Project Delivery Program; Florida DOT Audit #4 Report, 76535-76538 [2022-27057]
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Federal Register / Vol. 87, No. 239 / Wednesday, December 14, 2022 / Notices
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Issued in Denver, Colorado, on December
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[FR Doc. 2022–27084 Filed 12–13–22; 8:45 am]
BILLING CODE 4910–13–P
DEPARTMENT OF TRANSPORTATION
Federal Highway Administration
[FHWA Docket No. FHWA–2020–0025]
Surface Transportation Project
Delivery Program; Florida DOT Audit
#4 Report
Federal Highway
Administration (FHWA), U.S.
Department of Transportation (DOT).
ACTION: Notice; Request for comment.
AGENCY:
The Surface Transportation
Project Delivery Program allows a State
to assume FHWA’s environmental
responsibilities for review, consultation,
and compliance for Federal highway
projects. When a State assumes these
Federal responsibilities, the State
becomes solely responsible and liable
for the responsibilities it has assumed,
in lieu of FHWA. This program
mandates annual audits during each of
the first 4 years to ensure the State’s
compliance with program requirements.
This is the fourth and final audit of the
Florida Department of Transportation’s
(FDOT) performance of its
responsibilities under the Surface
Transportation Project Delivery Program
(National Environmental Policy Act
(NEPA) Assignment Program). This
notice announces and solicits comments
on the fourth and final audit report for
FDOT.
DATES: Comments must be received on
or before January 13, 2023.
ADDRESSES: Mail or hand deliver
comments to Docket Management
Facility: U.S. Department of
Transportation, 1200 New Jersey
Avenue SE, Room W12–140,
Washington, DC 20590. You may also
submit comments electronically at
www.regulations.gov. All comments
should include the docket number that
appears in the heading of this
document. All comments received will
be available for examination and
copying at the above address from 9
a.m. to 5 p.m., e.t., Monday through
Friday, except Federal holidays. Those
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SUMMARY:
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desiring notification of receipt of
comments must include a selfaddressed, stamped postcard or you
may print the acknowledgment page
that appears after submitting comments
electronically. Anyone can search the
electronic form of all comments in any
one of our dockets by the name of the
individual submitting the comment (or
signing the comment, if submitted on
behalf of an association, business, or
labor union). The DOT posts these
comments, without edits, including any
personal information the commenter
provides, to www.regulations.gov, as
described in the system of records
notice (DOT/ALL–14 FDMS), which can
be reviewed at www.dot.gov/privacy.
FOR FURTHER INFORMATION CONTACT: Ms.
Marisel Lopez Cruz, Office of Project
Development and Environmental
Review, (407) 867–6402, marisel.lopezcruz@dot.gov, Federal Highway
Administration, U.S. Department of
Transportation, 400 W. Washington
Street, Room 4200, Orlando, FL 32801,
or Mr. Patrick Smith, Office of the Chief
Counsel, (202) 366–1345,
Patrick.c.smith@dot.gov, Federal
Highway Administration, U.S.
Department of Transportation, 1200
New Jersey Avenue SE, Washington, DC
20590. Office hours are from 8:00 a.m.
to 4:30 p.m., e.t., Monday through
Friday, except Federal holidays.
SUPPLEMENTARY INFORMATION:
Electronic Access
An electronic copy of this notice may
be downloaded from the specific docket
page at www.regulations.gov.
Background
The Surface Transportation Project
Delivery Program, codified at 23 U.S.C.
327, commonly known as the NEPA
Assignment Program, allows a State to
assume FHWA’s responsibilities for
environmental review, consultation, and
compliance for Federal highway
projects. When a State assumes these
Federal responsibilities, the State
becomes solely liable for carrying out
the responsibilities it has assumed, in
lieu of FHWA. Effective December 14,
2016, FDOT assumed FHWA’s
responsibilities for environmental
review and the responsibilities for
reviews under other Federal
environmental requirements.
Section 327(g) of Title 23, U.S.C.,
requires the Secretary to conduct annual
audits to ensure compliance with the
memorandum of understanding during
each of the first 4 years of State
participation and, after the fourth year,
monitor compliance. The results of each
audit must be made available for public
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comment. The third audit report was
published in the Federal Register on
June 17, 2020, at 85 FR 36657. This
notice announces the availability of the
fourth and final audit report for FDOT
and solicits comment on same.
Authority: Section 1313 of Public Law
112–141; Section 6005 of Public Law
109–59; 23 U.S.C. 327; 23 CFR 773.
Stepanie Pollack,
Acting Administrator, Federal Highway
Administration.
Surface Transportation Project Delivery
Program, FHWA Audit #4 of the Florida
Department of Transportation, May
2019 to April 2020
Executive Summary
This is a report of the fourth and final
audit of the Florida Department of
Transportation’s (FDOT) assumption of
National Environmental Policy Act
(NEPA) responsibilities under the
Surface Transportation Project Delivery
Program. Under the authority of 23
U.S.C. 327, FDOT and the Federal
Highway Administration (FHWA)
executed a memorandum of
understanding (MOU) on December 14,
2016, whereby FHWA assigned, and
FDOT assumed, FHWA’s NEPA
responsibilities and liabilities for
Federal-aid highway projects and other
related environmental reviews for
transportation projects in Florida.
The FHWA formed a team in January
2020 to conduct an audit of FDOT’s
performance according to the terms of
the MOU. The team held internal
meetings and reviewed FDOT’s 2019
Project Development & Environment
(PD&E) Manual and NEPA project files,
FDOT’s response to FHWA’s pre-audit
information request (PAIR), and FDOT’s
NEPA Assignment Self Assessment
Summary Report. The team presented
initial project file observations to FDOT
Office of Environmental Management
(OEM) on June 26 and July 28, 2020.
The team conducted virtual interviews
with FDOT, resource agencies, and
prepared preliminary audit results from
September 21–24, 2020. The team
presented these preliminary
observations to FDOT OEM leadership
on September 25, 2020.
While FDOT continues to develop,
revise, and implement procedures and
processes required to carry out the
NEPA Assignment Program, it is
FHWA’s expectation that
documentation to support a project’s
decision will be included in the
Statewide Environmental Project
Tracker (SWEPT) system prior to project
close out. By addressing the observation
in this report, FDOT will continue to
assure a successful program.
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Overall, the team found that FDOT
remains committed to delivering a
successful NEPA Program. This report
describes numerous successful
practices, no observations, and one noncompliance observation. The FDOT has
carried out the responsibilities it has
assumed in keeping with the intent of
the MOU and FDOT’s application.
Through this report, FHWA is notifying
FDOT of the one non-compliance
observation that requires FDOT to take
corrective action. The report concludes
with the status of FHWA’s noncompliance observations from the first,
second, and third audit reviews,
including any FDOT self-imposed
corrective actions.
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Background
The purpose of the audits performed
under the authority of 23 U.S.C. 327 is
to assess a State’s compliance with the
provisions of the MOU as well as all
applicable Federal statutes, regulations,
policies, and guidance. The FHWA’s
review and oversight obligation entails
the need to collect information to
evaluate the success of the NEPA
Assignment Program; to evaluate a
State’s progress toward achieving its
performance measures as specified in
the MOU; and to collect information for
the administration of the NEPA
Assignment Program. This report
summarizes the results of the fourth
audit in Florida and includes a
summary discussion that describes
progress since the last audit. This audit
is the last of the required audits.
Scope and Methodology
The overall scope of this audit review
is defined both in statute (23 U.S.C. 327)
and the MOU (Part 11). An audit
generally is defined as an official and
careful examination and verification of
accounts and records, especially of
financial accounts, by an independent
unbiased body. With regard to accounts
or financial records, audits may follow
a prescribed process or methodology
and be conducted by ‘‘auditors’’ who
have special training in those processes
or methods. The FHWA considers this
review to meet the definition of an audit
because it is an unbiased, independent,
official, and careful examination and
verification of records and information
about FDOT’s assumption of
environmental responsibilities.
The team consisted of NEPA subject
matter experts (SME) from FHWA
offices in Texas, Georgia, and
Headquarters, as well as staff from
FHWA’s Florida Division. The diverse
composition of the team, as well as the
process of developing the review report
and publishing it in the Federal
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Register, are intended to make this audit
an unbiased official action taken by
FHWA.
The team conducted a careful
examination of FDOT policies,
guidance, and manuals pertaining to
NEPA responsibilities, as well as a
representative sample of FDOT’s project
files. Other documents, such as the
August 2020 PAIR responses and
FDOT’s August 2020 Self Assessment
Summary Report, also informed this
review. In addition, the team
interviewed FDOT and resource and
regulatory agency staff via video
conference. This review is organized
around the six NEPA Assignment
Program elements: program
management; documentation and
records management; quality assurance/
quality control (QA/QC); legal
sufficiency; performance measurement;
and training program. In addition, the
team considered three cross-cutting
focus areas: (1) Environmental Permits;
(2) Process Improvements; and, (3)
Project Authorizations.
The team defined the timeframe for
highway project environmental
approvals subject to this fourth audit to
be between May 2019 and April 2020,
when 635 projects were approved. The
team drew judgmental samples totaling
110 projects from data in FDOT’s online
file system, SWEPT. In the context of
this report, descriptions of
environmental documents are consistent
with FDOT’s Project Development and
Environment Manual. The FHWA
judgmentally selected all reevaluations
of Environmental Impact Statements
(EIS) with Records of Decision (ROD) (3
projects) and Environmental
Assessments (EA) with Findings of No
Significant Impacts (FONSI) (8 projects).
The team selected a random sample of
61 Type 1 Categorical Exclusions (CEs),
16 Type 2 CEs, and 22 Type 2 CE
Reevaluations, for a total of 110 projects
in the sample. The team reviewed all
fiscal project authorization files in the
audit period (422 project files)
downloaded from FHWA Fiscal
Management Information System to
determine if the NEPA certification was
completed for these projects prior to the
authorization. Additionally, for all
projects with a NEPA approval date
within the audit year (316 projects),
SWEPT was used to evaluate the
supporting environmental information.
The remaining 106 projects used the
FDOT Project Approvals Reports to
provide a cursory review of the
environmental information.
The team submitted a PAIR to FDOT
that contained 25 questions covering all
6 NEPA Assignment Program elements.
The FDOT responses to the PAIR were
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used to develop questions for the virtual
interviews with FDOT staff.
The team conducted a total of 32
interviews. Interview participants
included staff from all seven FDOT
District offices and the FDOT Central
Office. The team interviewed FDOT
legal and environmental staff. The team
also interviewed representatives from
the following resource agencies:
National Oceanic and Atmospheric
Administration—National Marine
Fisheries Service; the U.S. Coast Guard;
the U.S. Fish and Wildlife Service; U.S.
Army Corps of Engineers; and the State
Historic Preservation Officer from the
Florida Department of State, Division of
Historic Resources.
The team compared FDOT policies
and procedures (including the
published 2019 PD&E Manual) for the
audit focus areas to the information
obtained during interviews and project
file reviews to determine if FDOT’s
performance of its MOU responsibilities
are in accordance with FDOT policies
and procedures and Federal
requirements. Individual observations
were documented during interviews and
reviews and combined under the six
NEPA Assignment Program elements.
The audit results are described below by
program element.
Overall Audit Opinion
The team recognizes that FDOT’s
efforts have included implementing the
requirements of the MOU by: processing
and approving projects; refining
policies, procedures, and guidance
documents; refining the SWEPT
tracking system for official project files;
training staff; implementing a QA/QC
Plan; and conducting a self assessment
for monitoring compliance with the
assumed responsibilities. The team
found evidence of FDOT’s continuing
efforts to train staff in clarifying the
roles and responsibilities of FDOT staff,
and in educating staff in an effort to
assure compliance with all of the
assigned responsibilities.
During the fourth audit, the team
identified numerous successful
practices, no observations, and one noncompliance observation that FDOT will
need to address through corrective
actions.
The FDOT has carried out the
responsibilities it has assumed
consistent with the intent of the MOU
and FDOT’s application. The team finds
that FDOT is in substantial compliance
with the terms of the MOU. By
addressing the non-compliance
observation in this report, FDOT will
continue to assure a successful program.
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Successful Practices and Observations
Successful practices are practices that
the team believes are positive, and
encourages FDOT to continue or expand
those programs in the future. The team
identified numerous successful
practices in this report. Observations are
items the team would like to draw
FDOT’s attention to, which may
improve processes, procedures, and/or
outcomes. The team identified no
observations in this report.
A non-compliance observation is an
instance where the team finds the State
is not in compliance or is deficient with
regard to a Federal regulation, statute,
guidance, policy, State procedure, or the
MOU. Non-compliance may also
include instances where the State has
failed to secure or maintain adequate
personnel and/or financial resources to
carry out the responsibilities they have
assumed. The FHWA expects the State
to develop and implement corrective
actions to address all non-compliance
observations. The team identified one
non-compliance observation during this
fourth audit.
The team acknowledges that sharing
initial results during the closeout and
sharing the draft audit report with
FDOT provided them the opportunity to
clarify any observation, as needed, and/
or begin implementing corrective
actions to improve the program.
The Audit Report addresses all six
MOU program elements as separate
discussions.
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Program Management
Successful Practices
The FDOT has continued and
expanded its working relationships with
the resource agencies. The FDOT has
been meeting early and often with some
resource agencies to discuss ongoing
and future projects. This enhanced
communication minimizes delays in
project delivery and permitting
processes. The Efficient Transportation
Decision Making process was in place
prior to NEPA Assignment and this tool
continues to foster good relationships
between FDOT and the resource
agencies. Districts are beginning to
conduct periodic Environmental
Technical Advisory Team (ETAT)
Webinars instead of annual ETAT
meetings to discuss upcoming projects.
Additionally, federally funded positions
dedicated to FDOT projects reduce
delays in project delivery.
The SWEPT is a fundamental
component of FDOT’s NEPA
Assignment success. The SWEPT
continues to be a critical and flexible
tool in implementing the NEPA
Assignment program responsibilities.
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The review team learned through the
interviews that as FDOT users have
become more familiar with the SWEPT
system, they have praised its usefulness
in streamlining the NEPA
documentation process. The SWEPT
provides standards for documentation
in templates, provides a consistent
interface, and facilitates the creation of
the administrative record. Users also
have an opportunity to provide input to
improve SWEPT’s ability to track
project progression. The SWEPT has
continued to evolve and now used to
support the permitting process for some
projects.
The FDOT’s internal communication
is robust and effective. As FDOT’s
NEPA Assignment Program matures,
communication and relationships
continue to improve between FDOT’s
OEM Staff, District Staff, and
consultants. Communications at the
program level between OEM and
District staff have become a regular part
of their day-to-day operations. The OEM
engagement through the Project Delivery
Coordinators has helped save time on
projects and improved consistency.
Monthly meetings within the Districts
among environmental staff and permit
coordinators has improved project
development and delivery. One District
holds quarterly meetings between
permitting, environmental management,
and construction offices to discuss
outstanding items and issues.
The FDOT Districts accelerate NEPA
project delivery through enhanced
scoping. The review team learned
through interviews that two Districts
have staff complete surveys and
assessments before the NEPA process
begins to accelerate project delivery.
Once the NEPA process begins, the
District consultants are then able to
complete the NEPA phase in a shorter
timeframe, without having to wait on
seasonal surveys, such as those required
for some species, and other information
that is needed for the NEPA decisions.
This early information gathering is an
example of Planning and Environment
Linkages to allow for accelerated NEPA
project delivery and reduced costs for
consultant services in the
environmental phase.
Quality Assurance/Quality Control
Successful Practice
The SWEPT provides a QA/QC
advantage. The review team learned
through interviews that SWEPT
provides additional environmental
document quality control for the project
file. The use of templates in SWEPT and
the SWEPT system validation control
point prevent project advancement and
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76537
approval until required documents are
uploaded and serve as additional QA/
QC tools.
Legal Sufficiency
Successful Practices
The FDOT has an attorney dedicated
to Section 4(f) reviews. Section 4(f) is a
complex law which is challenging to
master and implement. This practice
allows FDOT counsel to provide
consistent advice, develop subject
matter expertise, and allows for
streamlined reviews ensuring the
analysis meets the legal sufficiency
requirements in accordance with 23
CFR part 774.
Counsel has been fully integrated into
the NEPA decisionmaking process. The
FDOT Districts routinely contact
counsel with questions throughout the
NEPA development process. Consulting
early and often with counsel has not
only expedited the NEPA
decisionmaking process but also
translated into counsel being invited to
participate in other phases of project
development and policy matters.
Training Program
The FDOT has continued to focus
resources ensuring staff, other agencies,
and consultants are adequately trained.
In the last year, FDOT again trained
more than 2,300 staff, consultants,
resource agencies and local agencies in
over 100 courses on topics such as
Section 4(f), Permits, Wetlands, and the
PD&E Manual. Through information
presented in the FDOT Self Assessment
and the interviews, the review team
learned of the variety in, and growth of,
FDOT’s environmental training
program.
Successful Practice
The FDOT has a strong onboarding
process when new employees join the
OEM. The OEM initiated a 6-month
pilot program to conduct weekly
sessions led by technical experts. These
onboarding mentoring sessions with
subject matter experts are being
recorded and made available for other
FDOT staff to watch on demand.
Performance Measures
Based on information reported in
FDOT’s 2020 Self Assessment Summary
Report, FDOT met, exceeded, or was
close to achieving all targets for the
review period.
Documentation and Records
Management
The team reviewed environmental
documentation for 61 Type 1 CEs, 16
Type 2 CEs, and 33 Reevaluations
which included RODs, FONSIs, and
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Type 2 CEs to determine if the
environmental review met Federal
requirements. The team also reviewed
422 fiscal project authorization files to
determine if NEPA was completed for
these projects prior to the authorization.
Non-Compliance Observation #1: Some
FDOT Project Files Contain Insufficient
Documentation To Support the Project
Authorization, Environmental Analysis,
or Environmental Decision
The team found some CEs that did not
have a Statewide Transportation
Improvement Program (STIP) page or
had an outdated STIP page (10 projects)
in their documentation for fiscal
constraint. The team also found that
some fiscal project authorizations did
not have documentation verifying that
NEPA was completed (11 projects).
FDOT has already updated the SWEPT
System by uploading any missing
documentation. In addition, FDOT
committed to making process
improvements to address any remaining
concerns.
While the SWEPT system has
validation control points in place, there
are still opportunities for additional
enhancements regarding quality
assurance to ensure these documents are
included in all project files. It is
FHWA’s expectation that
documentation to support a project’s
decision will be included in the SWEPT
system prior to project close out.
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Update From Previous Audit Findings
The FHWA reported a noncompliance observation related to some
FDOT project files that lacked
documentation to support the
environmental analysis or decision as
part of Audit #1, Audit #2, and Audit
#3. Also, as part of Audit #3, FHWA
identified the lack of documentation to
support the project authorization. The
FDOT and FHWA have productively
worked together to resolve
documentation issues from these
previous audits. The FDOT
implemented several process
improvements to address noted
procedural deficiencies.
2017 Audit #1, Non-Compliance
Observation #1 and 2018 Audit #2, NonCompliance Observation #1: Some
FDOT Project Files Contain Insufficient
Documentation To Support the
Environmental Analysis or Decision
To address the 2017 and 2018
findings, FDOT implemented
enhancements to SWEPT including
revisions to the Type 1 CE checklist, the
Type 2 CE form, and the reevaluation
form. They added STIP/TIP planning
consistency uploading instructions,
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added validation for data within the
Type 1 CE checklist for ROW, wetlands,
floodplains, and waterways, added an
attachment point for the project
commitment record in the Type 1 CE
checklist, allowed multiple attachments
for Section 7 ESA concurrence letters,
integrated Section 4(f) approvals for
applicable classes of action, and
developed a spreadsheet tool for the
project managers to verify which
documents need to be uploaded to the
project file. The FDOT also updated the
PD&E manual, conducted training for
their staff on the SWEPT and PD&E
manual enhancements and on the areas
of noted deficiencies. The FDOT also
developed computer based training in
some of these areas for future use.
2019 Audit #3, Non-Compliance
Observation #1: Some FDOT Project
Files Contain Insufficient
Documentation To Support the Project
Authorization, Environmental Analysis
or Decision
To address the 2019 findings, FDOT
implemented enhancements to SWEPT
by adding validation for data within the
Type 1 CE checklist for bridge permits.
The FDOT also updated the PD&E
manual, conducted training for their
staff on the SWEPT, and made PD&E
manual enhancements in the noted
deficiency areas. The FDOT also
developed computer based training for
class of actions, CEs, and environmental
assessments.
The improvements made in response
to the 2017, 2018, and 2019
observations were assessed during this
final audit and are considered sufficient
to address the issues underlying the
non-compliance observations in those
audits.
Finalizing This Report
The FHWA provided a draft of the
audit report to FDOT for a 14-day
review and comment period. The team
considered FDOT’s comments in this
draft audit report. The FHWA is
publishing this notice in the Federal
Register for a 30-day comment period in
accordance with 23 U.S.C. 327(g). No
later than 60 days after the close of the
comment period, FHWA will address all
comments submitted to finalize this
draft audit report pursuant to 23 U.S.C.
327(g)(2)(B). Subsequently, FHWA will
publish the final audit report in the
Federal Register.
[FR Doc. 2022–27057 Filed 12–13–22; 8:45 am]
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DEPARTMENT OF TRANSPORTATION
[DOCKET: DOT–OST–2013–0074]
Agency Information Collection;
Activity Under OMB Review: Foreign
Air Carrier Application for Statement of
Authorization, ICR–2106–0035
Office of the Secretary (OST),
Department of Transportation (DOT).
ACTION: Notice and request for
comments; Request OMB Clearance for
extension of a currently approved
information collection, Foreign Air
Carrier Application for Statement of
Authorization.
AGENCY:
In compliance with the
Paperwork Reduction Act, this notice
announces that the Information
Collection Request, abstracted below, is
being forwarded to the Office of
Management and Budget for extension
of approval of currently approved ICR–
2106–0036, Foreign Air Carrier
Application for Statement of
Authorization. Earlier, a Federal
Register Notice with a 60-day comment
period was published on August 12,
2022. The agency received one comment
from Bakersfield College—Britain
Cambridge State University stating,
‘‘Thank you’’.
DATES: Written comments should be
submitted by January 8, 2023.
ADDRESSES: Comments should be sent to
OMB at the address that appears below
and should identify the associated OMB
Approval Number 2106–0035 and
Docket DOT–OST–2013–0074.
FOR FURTHER INFORMATION CONTACT:
Darren Jaffe, (202) 366–2512, Office of
International Aviation, U.S. Department
of Transportation, 1200 New Jersey
Avenue SE, Room W86–441,
Washington, DC 20590. Office hours are
from 9 a.m. to 5:30 p.m., Monday
through Friday, except Federal holidays.
SUPPLEMENTARY INFORMATION:
OMB Approval No.: 2106–0035.
Title: Foreign Air Carrier Application
for Statement of Authorization.
Form No.: Form OST 4540.
Type of Review: Extension of a
currently approved collection.
Respondents: Foreign Air Carriers.
Number of Respondents:
approximately 100.
Estimated Time per Response: 2.25
hours per application.
Total Annual Burden: 1,000 hours.
Abstract: Applicants use Form OST
4540 to request statements of
authorization to conduct numerous
types of operations authorized under
Title 14, CFR part 212. The form
requires basic information regarding the
carrier(s) conducting the operation, the
SUMMARY:
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Agencies
[Federal Register Volume 87, Number 239 (Wednesday, December 14, 2022)]
[Notices]
[Pages 76535-76538]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2022-27057]
-----------------------------------------------------------------------
DEPARTMENT OF TRANSPORTATION
Federal Highway Administration
[FHWA Docket No. FHWA-2020-0025]
Surface Transportation Project Delivery Program; Florida DOT
Audit #4 Report
AGENCY: Federal Highway Administration (FHWA), U.S. Department of
Transportation (DOT).
ACTION: Notice; Request for comment.
-----------------------------------------------------------------------
SUMMARY: The Surface Transportation Project Delivery Program allows a
State to assume FHWA's environmental responsibilities for review,
consultation, and compliance for Federal highway projects. When a State
assumes these Federal responsibilities, the State becomes solely
responsible and liable for the responsibilities it has assumed, in lieu
of FHWA. This program mandates annual audits during each of the first 4
years to ensure the State's compliance with program requirements. This
is the fourth and final audit of the Florida Department of
Transportation's (FDOT) performance of its responsibilities under the
Surface Transportation Project Delivery Program (National Environmental
Policy Act (NEPA) Assignment Program). This notice announces and
solicits comments on the fourth and final audit report for FDOT.
DATES: Comments must be received on or before January 13, 2023.
ADDRESSES: Mail or hand deliver comments to Docket Management Facility:
U.S. Department of Transportation, 1200 New Jersey Avenue SE, Room W12-
140, Washington, DC 20590. You may also submit comments electronically
at www.regulations.gov. All comments should include the docket number
that appears in the heading of this document. All comments received
will be available for examination and copying at the above address from
9 a.m. to 5 p.m., e.t., Monday through Friday, except Federal holidays.
Those desiring notification of receipt of comments must include a self-
addressed, stamped postcard or you may print the acknowledgment page
that appears after submitting comments electronically. Anyone can
search the electronic form of all comments in any one of our dockets by
the name of the individual submitting the comment (or signing the
comment, if submitted on behalf of an association, business, or labor
union). The DOT posts these comments, without edits, including any
personal information the commenter provides, to www.regulations.gov, as
described in the system of records notice (DOT/ALL-14 FDMS), which can
be reviewed at www.dot.gov/privacy.
FOR FURTHER INFORMATION CONTACT: Ms. Marisel Lopez Cruz, Office of
Project Development and Environmental Review, (407) 867-6402,
[email protected], Federal Highway Administration, U.S.
Department of Transportation, 400 W. Washington Street, Room 4200,
Orlando, FL 32801, or Mr. Patrick Smith, Office of the Chief Counsel,
(202) 366-1345, [email protected], Federal Highway
Administration, U.S. Department of Transportation, 1200 New Jersey
Avenue SE, Washington, DC 20590. Office hours are from 8:00 a.m. to
4:30 p.m., e.t., Monday through Friday, except Federal holidays.
SUPPLEMENTARY INFORMATION:
Electronic Access
An electronic copy of this notice may be downloaded from the
specific docket page at www.regulations.gov.
Background
The Surface Transportation Project Delivery Program, codified at 23
U.S.C. 327, commonly known as the NEPA Assignment Program, allows a
State to assume FHWA's responsibilities for environmental review,
consultation, and compliance for Federal highway projects. When a State
assumes these Federal responsibilities, the State becomes solely liable
for carrying out the responsibilities it has assumed, in lieu of FHWA.
Effective December 14, 2016, FDOT assumed FHWA's responsibilities for
environmental review and the responsibilities for reviews under other
Federal environmental requirements.
Section 327(g) of Title 23, U.S.C., requires the Secretary to
conduct annual audits to ensure compliance with the memorandum of
understanding during each of the first 4 years of State participation
and, after the fourth year, monitor compliance. The results of each
audit must be made available for public comment. The third audit report
was published in the Federal Register on June 17, 2020, at 85 FR 36657.
This notice announces the availability of the fourth and final audit
report for FDOT and solicits comment on same.
Authority: Section 1313 of Public Law 112-141; Section 6005 of
Public Law 109-59; 23 U.S.C. 327; 23 CFR 773.
Stepanie Pollack,
Acting Administrator, Federal Highway Administration.
Surface Transportation Project Delivery Program, FHWA Audit #4 of the
Florida Department of Transportation, May 2019 to April 2020
Executive Summary
This is a report of the fourth and final audit of the Florida
Department of Transportation's (FDOT) assumption of National
Environmental Policy Act (NEPA) responsibilities under the Surface
Transportation Project Delivery Program. Under the authority of 23
U.S.C. 327, FDOT and the Federal Highway Administration (FHWA) executed
a memorandum of understanding (MOU) on December 14, 2016, whereby FHWA
assigned, and FDOT assumed, FHWA's NEPA responsibilities and
liabilities for Federal-aid highway projects and other related
environmental reviews for transportation projects in Florida.
The FHWA formed a team in January 2020 to conduct an audit of
FDOT's performance according to the terms of the MOU. The team held
internal meetings and reviewed FDOT's 2019 Project Development &
Environment (PD&E) Manual and NEPA project files, FDOT's response to
FHWA's pre-audit information request (PAIR), and FDOT's NEPA Assignment
Self Assessment Summary Report. The team presented initial project file
observations to FDOT Office of Environmental Management (OEM) on June
26 and July 28, 2020. The team conducted virtual interviews with FDOT,
resource agencies, and prepared preliminary audit results from
September 21-24, 2020. The team presented these preliminary
observations to FDOT OEM leadership on September 25, 2020.
While FDOT continues to develop, revise, and implement procedures
and processes required to carry out the NEPA Assignment Program, it is
FHWA's expectation that documentation to support a project's decision
will be included in the Statewide Environmental Project Tracker (SWEPT)
system prior to project close out. By addressing the observation in
this report, FDOT will continue to assure a successful program.
[[Page 76536]]
Overall, the team found that FDOT remains committed to delivering a
successful NEPA Program. This report describes numerous successful
practices, no observations, and one non-compliance observation. The
FDOT has carried out the responsibilities it has assumed in keeping
with the intent of the MOU and FDOT's application. Through this report,
FHWA is notifying FDOT of the one non-compliance observation that
requires FDOT to take corrective action. The report concludes with the
status of FHWA's non-compliance observations from the first, second,
and third audit reviews, including any FDOT self-imposed corrective
actions.
Background
The purpose of the audits performed under the authority of 23
U.S.C. 327 is to assess a State's compliance with the provisions of the
MOU as well as all applicable Federal statutes, regulations, policies,
and guidance. The FHWA's review and oversight obligation entails the
need to collect information to evaluate the success of the NEPA
Assignment Program; to evaluate a State's progress toward achieving its
performance measures as specified in the MOU; and to collect
information for the administration of the NEPA Assignment Program. This
report summarizes the results of the fourth audit in Florida and
includes a summary discussion that describes progress since the last
audit. This audit is the last of the required audits.
Scope and Methodology
The overall scope of this audit review is defined both in statute
(23 U.S.C. 327) and the MOU (Part 11). An audit generally is defined as
an official and careful examination and verification of accounts and
records, especially of financial accounts, by an independent unbiased
body. With regard to accounts or financial records, audits may follow a
prescribed process or methodology and be conducted by ``auditors'' who
have special training in those processes or methods. The FHWA considers
this review to meet the definition of an audit because it is an
unbiased, independent, official, and careful examination and
verification of records and information about FDOT's assumption of
environmental responsibilities.
The team consisted of NEPA subject matter experts (SME) from FHWA
offices in Texas, Georgia, and Headquarters, as well as staff from
FHWA's Florida Division. The diverse composition of the team, as well
as the process of developing the review report and publishing it in the
Federal Register, are intended to make this audit an unbiased official
action taken by FHWA.
The team conducted a careful examination of FDOT policies,
guidance, and manuals pertaining to NEPA responsibilities, as well as a
representative sample of FDOT's project files. Other documents, such as
the August 2020 PAIR responses and FDOT's August 2020 Self Assessment
Summary Report, also informed this review. In addition, the team
interviewed FDOT and resource and regulatory agency staff via video
conference. This review is organized around the six NEPA Assignment
Program elements: program management; documentation and records
management; quality assurance/quality control (QA/QC); legal
sufficiency; performance measurement; and training program. In
addition, the team considered three cross-cutting focus areas: (1)
Environmental Permits; (2) Process Improvements; and, (3) Project
Authorizations.
The team defined the timeframe for highway project environmental
approvals subject to this fourth audit to be between May 2019 and April
2020, when 635 projects were approved. The team drew judgmental samples
totaling 110 projects from data in FDOT's online file system, SWEPT. In
the context of this report, descriptions of environmental documents are
consistent with FDOT's Project Development and Environment Manual. The
FHWA judgmentally selected all reevaluations of Environmental Impact
Statements (EIS) with Records of Decision (ROD) (3 projects) and
Environmental Assessments (EA) with Findings of No Significant Impacts
(FONSI) (8 projects). The team selected a random sample of 61 Type 1
Categorical Exclusions (CEs), 16 Type 2 CEs, and 22 Type 2 CE
Reevaluations, for a total of 110 projects in the sample. The team
reviewed all fiscal project authorization files in the audit period
(422 project files) downloaded from FHWA Fiscal Management Information
System to determine if the NEPA certification was completed for these
projects prior to the authorization. Additionally, for all projects
with a NEPA approval date within the audit year (316 projects), SWEPT
was used to evaluate the supporting environmental information. The
remaining 106 projects used the FDOT Project Approvals Reports to
provide a cursory review of the environmental information.
The team submitted a PAIR to FDOT that contained 25 questions
covering all 6 NEPA Assignment Program elements. The FDOT responses to
the PAIR were used to develop questions for the virtual interviews with
FDOT staff.
The team conducted a total of 32 interviews. Interview participants
included staff from all seven FDOT District offices and the FDOT
Central Office. The team interviewed FDOT legal and environmental
staff. The team also interviewed representatives from the following
resource agencies: National Oceanic and Atmospheric Administration--
National Marine Fisheries Service; the U.S. Coast Guard; the U.S. Fish
and Wildlife Service; U.S. Army Corps of Engineers; and the State
Historic Preservation Officer from the Florida Department of State,
Division of Historic Resources.
The team compared FDOT policies and procedures (including the
published 2019 PD&E Manual) for the audit focus areas to the
information obtained during interviews and project file reviews to
determine if FDOT's performance of its MOU responsibilities are in
accordance with FDOT policies and procedures and Federal requirements.
Individual observations were documented during interviews and reviews
and combined under the six NEPA Assignment Program elements. The audit
results are described below by program element.
Overall Audit Opinion
The team recognizes that FDOT's efforts have included implementing
the requirements of the MOU by: processing and approving projects;
refining policies, procedures, and guidance documents; refining the
SWEPT tracking system for official project files; training staff;
implementing a QA/QC Plan; and conducting a self assessment for
monitoring compliance with the assumed responsibilities. The team found
evidence of FDOT's continuing efforts to train staff in clarifying the
roles and responsibilities of FDOT staff, and in educating staff in an
effort to assure compliance with all of the assigned responsibilities.
During the fourth audit, the team identified numerous successful
practices, no observations, and one non-compliance observation that
FDOT will need to address through corrective actions.
The FDOT has carried out the responsibilities it has assumed
consistent with the intent of the MOU and FDOT's application. The team
finds that FDOT is in substantial compliance with the terms of the MOU.
By addressing the non-compliance observation in this report, FDOT will
continue to assure a successful program.
[[Page 76537]]
Successful Practices and Observations
Successful practices are practices that the team believes are
positive, and encourages FDOT to continue or expand those programs in
the future. The team identified numerous successful practices in this
report. Observations are items the team would like to draw FDOT's
attention to, which may improve processes, procedures, and/or outcomes.
The team identified no observations in this report.
A non-compliance observation is an instance where the team finds
the State is not in compliance or is deficient with regard to a Federal
regulation, statute, guidance, policy, State procedure, or the MOU.
Non-compliance may also include instances where the State has failed to
secure or maintain adequate personnel and/or financial resources to
carry out the responsibilities they have assumed. The FHWA expects the
State to develop and implement corrective actions to address all non-
compliance observations. The team identified one non-compliance
observation during this fourth audit.
The team acknowledges that sharing initial results during the
closeout and sharing the draft audit report with FDOT provided them the
opportunity to clarify any observation, as needed, and/or begin
implementing corrective actions to improve the program.
The Audit Report addresses all six MOU program elements as separate
discussions.
Program Management
Successful Practices
The FDOT has continued and expanded its working relationships with
the resource agencies. The FDOT has been meeting early and often with
some resource agencies to discuss ongoing and future projects. This
enhanced communication minimizes delays in project delivery and
permitting processes. The Efficient Transportation Decision Making
process was in place prior to NEPA Assignment and this tool continues
to foster good relationships between FDOT and the resource agencies.
Districts are beginning to conduct periodic Environmental Technical
Advisory Team (ETAT) Webinars instead of annual ETAT meetings to
discuss upcoming projects. Additionally, federally funded positions
dedicated to FDOT projects reduce delays in project delivery.
The SWEPT is a fundamental component of FDOT's NEPA Assignment
success. The SWEPT continues to be a critical and flexible tool in
implementing the NEPA Assignment program responsibilities. The review
team learned through the interviews that as FDOT users have become more
familiar with the SWEPT system, they have praised its usefulness in
streamlining the NEPA documentation process. The SWEPT provides
standards for documentation in templates, provides a consistent
interface, and facilitates the creation of the administrative record.
Users also have an opportunity to provide input to improve SWEPT's
ability to track project progression. The SWEPT has continued to evolve
and now used to support the permitting process for some projects.
The FDOT's internal communication is robust and effective. As
FDOT's NEPA Assignment Program matures, communication and relationships
continue to improve between FDOT's OEM Staff, District Staff, and
consultants. Communications at the program level between OEM and
District staff have become a regular part of their day-to-day
operations. The OEM engagement through the Project Delivery
Coordinators has helped save time on projects and improved consistency.
Monthly meetings within the Districts among environmental staff and
permit coordinators has improved project development and delivery. One
District holds quarterly meetings between permitting, environmental
management, and construction offices to discuss outstanding items and
issues.
The FDOT Districts accelerate NEPA project delivery through
enhanced scoping. The review team learned through interviews that two
Districts have staff complete surveys and assessments before the NEPA
process begins to accelerate project delivery. Once the NEPA process
begins, the District consultants are then able to complete the NEPA
phase in a shorter timeframe, without having to wait on seasonal
surveys, such as those required for some species, and other information
that is needed for the NEPA decisions. This early information gathering
is an example of Planning and Environment Linkages to allow for
accelerated NEPA project delivery and reduced costs for consultant
services in the environmental phase.
Quality Assurance/Quality Control
Successful Practice
The SWEPT provides a QA/QC advantage. The review team learned
through interviews that SWEPT provides additional environmental
document quality control for the project file. The use of templates in
SWEPT and the SWEPT system validation control point prevent project
advancement and approval until required documents are uploaded and
serve as additional QA/QC tools.
Legal Sufficiency
Successful Practices
The FDOT has an attorney dedicated to Section 4(f) reviews. Section
4(f) is a complex law which is challenging to master and implement.
This practice allows FDOT counsel to provide consistent advice, develop
subject matter expertise, and allows for streamlined reviews ensuring
the analysis meets the legal sufficiency requirements in accordance
with 23 CFR part 774.
Counsel has been fully integrated into the NEPA decisionmaking
process. The FDOT Districts routinely contact counsel with questions
throughout the NEPA development process. Consulting early and often
with counsel has not only expedited the NEPA decisionmaking process but
also translated into counsel being invited to participate in other
phases of project development and policy matters.
Training Program
The FDOT has continued to focus resources ensuring staff, other
agencies, and consultants are adequately trained. In the last year,
FDOT again trained more than 2,300 staff, consultants, resource
agencies and local agencies in over 100 courses on topics such as
Section 4(f), Permits, Wetlands, and the PD&E Manual. Through
information presented in the FDOT Self Assessment and the interviews,
the review team learned of the variety in, and growth of, FDOT's
environmental training program.
Successful Practice
The FDOT has a strong onboarding process when new employees join
the OEM. The OEM initiated a 6-month pilot program to conduct weekly
sessions led by technical experts. These onboarding mentoring sessions
with subject matter experts are being recorded and made available for
other FDOT staff to watch on demand.
Performance Measures
Based on information reported in FDOT's 2020 Self Assessment
Summary Report, FDOT met, exceeded, or was close to achieving all
targets for the review period.
Documentation and Records Management
The team reviewed environmental documentation for 61 Type 1 CEs, 16
Type 2 CEs, and 33 Reevaluations which included RODs, FONSIs, and
[[Page 76538]]
Type 2 CEs to determine if the environmental review met Federal
requirements. The team also reviewed 422 fiscal project authorization
files to determine if NEPA was completed for these projects prior to
the authorization.
Non-Compliance Observation #1: Some FDOT Project Files Contain
Insufficient Documentation To Support the Project Authorization,
Environmental Analysis, or Environmental Decision
The team found some CEs that did not have a Statewide
Transportation Improvement Program (STIP) page or had an outdated STIP
page (10 projects) in their documentation for fiscal constraint. The
team also found that some fiscal project authorizations did not have
documentation verifying that NEPA was completed (11 projects). FDOT has
already updated the SWEPT System by uploading any missing
documentation. In addition, FDOT committed to making process
improvements to address any remaining concerns.
While the SWEPT system has validation control points in place,
there are still opportunities for additional enhancements regarding
quality assurance to ensure these documents are included in all project
files. It is FHWA's expectation that documentation to support a
project's decision will be included in the SWEPT system prior to
project close out.
Update From Previous Audit Findings
The FHWA reported a non-compliance observation related to some FDOT
project files that lacked documentation to support the environmental
analysis or decision as part of Audit #1, Audit #2, and Audit #3. Also,
as part of Audit #3, FHWA identified the lack of documentation to
support the project authorization. The FDOT and FHWA have productively
worked together to resolve documentation issues from these previous
audits. The FDOT implemented several process improvements to address
noted procedural deficiencies.
2017 Audit #1, Non-Compliance Observation #1 and 2018 Audit #2, Non-
Compliance Observation #1: Some FDOT Project Files Contain Insufficient
Documentation To Support the Environmental Analysis or Decision
To address the 2017 and 2018 findings, FDOT implemented
enhancements to SWEPT including revisions to the Type 1 CE checklist,
the Type 2 CE form, and the reevaluation form. They added STIP/TIP
planning consistency uploading instructions, added validation for data
within the Type 1 CE checklist for ROW, wetlands, floodplains, and
waterways, added an attachment point for the project commitment record
in the Type 1 CE checklist, allowed multiple attachments for Section 7
ESA concurrence letters, integrated Section 4(f) approvals for
applicable classes of action, and developed a spreadsheet tool for the
project managers to verify which documents need to be uploaded to the
project file. The FDOT also updated the PD&E manual, conducted training
for their staff on the SWEPT and PD&E manual enhancements and on the
areas of noted deficiencies. The FDOT also developed computer based
training in some of these areas for future use.
2019 Audit #3, Non-Compliance Observation #1: Some FDOT Project Files
Contain Insufficient Documentation To Support the Project
Authorization, Environmental Analysis or Decision
To address the 2019 findings, FDOT implemented enhancements to
SWEPT by adding validation for data within the Type 1 CE checklist for
bridge permits. The FDOT also updated the PD&E manual, conducted
training for their staff on the SWEPT, and made PD&E manual
enhancements in the noted deficiency areas. The FDOT also developed
computer based training for class of actions, CEs, and environmental
assessments.
The improvements made in response to the 2017, 2018, and 2019
observations were assessed during this final audit and are considered
sufficient to address the issues underlying the non-compliance
observations in those audits.
Finalizing This Report
The FHWA provided a draft of the audit report to FDOT for a 14-day
review and comment period. The team considered FDOT's comments in this
draft audit report. The FHWA is publishing this notice in the Federal
Register for a 30-day comment period in accordance with 23 U.S.C.
327(g). No later than 60 days after the close of the comment period,
FHWA will address all comments submitted to finalize this draft audit
report pursuant to 23 U.S.C. 327(g)(2)(B). Subsequently, FHWA will
publish the final audit report in the Federal Register.
[FR Doc. 2022-27057 Filed 12-13-22; 8:45 am]
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