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<br />j <br /> <br />conflicts with other governmental agencies for construction <br />and operation of the Narrows Unit project," e.g., but not <br />inclusive adequate study of project alternatives, safety and <br />seepage studies, wildlife mitigation, ~404 Permit requirements? <br />d. Have Defendants misrepresented the <br />facts regarding the environmental and economic feasibility <br />of Narrows demonstrating a lack of good faith compliance <br />with NEPA? <br /> <br />e. Does the Narrows PES comply with <br /> <br /> <br />the requirements of NEPA that a full, complete and good- <br /> <br /> <br />faith compliance be had? <br /> <br />i. Are the studies cited <br />and/or relied upon in the FES sufficiently current, detailed, <br />specific and accurate to form a basis for fully informed <br />decision-making? <br /> <br />ii. Have Defendants failed to <br />investigate and report on the geological formations upon <br />which Narrows Dam is to be located? <br />iii. Have Defendants failed to <br />adequately study seepage loss and plan for adequate mitigation <br />measures? <br /> <br />iv. Did the Defendants fail <br />to adequately determine and describe the impact of aggradation <br />problems at the inlet end of Narrows? <br />v. Did the Defendants ade- <br />quately assess the cost and impact of Narrows on the human <br /> <br />environment of Plaintiffs? <br /> <br />vi. Did Defendants conduct an <br />adequate study of the hydrology of the water supply for <br />Narrows to insure project feasibility? <br />vii. Have the post construction <br />water quality problems attributable to Narrows been given <br /> <br />adequate consideration? <br /> <br />-12 - <br />