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U6/J2/ZUU5 15:38 FAX 3033126071 EPA PAER 11002 <br /> • <br /> 3) Specific mitigation measure should be designed which adequately replace all <br /> unavoidable adverse impacts to both riparian and wetland vegetation in the project <br /> area. Plant species should be replaced in similar numbers and with similar species <br /> (excluding non-natives). <br /> 4) More information should be provided that documents the length of river within the <br /> project area,the access points for construction activity(and associated impacts), and <br /> mitigation and weed management monitoring commitments. <br /> We believe the proposed project is not in compliance with the Section 404(b)(1) <br /> Guidelines due to lack of information on alternatives, disclosure of adverse impacts to waters of <br /> the U.S. (including wetlands), and the lack of adequate mitigation for unavoidable impacts. If <br /> you have any questions or concerns regarding these recommendations or comments,please <br /> contact me at 303-312-6192. 0 <br /> Sincerel , <br /> "J1- <br /> Sarah Fowler <br /> Biologist <br /> Ecosystem Protection Program <br /> cc: Al Pfister, USFWS, Grand Junction <br /> • <br /> 2 <br /> • elt Printed on Recycled Paper <br />