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<br />NEW MEXICO INTERSTATE STREAM COMMISSION <br /> <br />COMMISSION MEMBERS <br /> <br />BATAAN MEMORIAL BUILDING. ROOM 101 <br /> <br />RICHARD P. CHENEY, Chairman, Farmington <br />HOYT PATTISON, Vice-Chairman. Clovis <br />THOMAS C. TURNEY, PE., Secretary, Santa Fe <br />PALEMON A. MARTINEZ, Valdez <br />JUHN S. BUL::i I ERBAUM, ueming <br />PHILIP R. GRANT, Albuquerque <br />HAROLD HOUGHTALING, Jr., Lake Arthur <br />NARENDRA N. GUNAJI, Las Cruces <br />PHIL H. BIDEGAIN, Tucumcari <br /> <br /> <br />POST OFFICE BOX 25102 <br />SANTA FE, NEW MEXICO B7504-5102 <br /> <br />'.. <br />~ <br /> <br />15051B27-6160 <br />fA~::5C5~e2:r-e'!!:!!:! <br /> <br />April 8, 2002 <br /> <br />RECEIVED <br />APR 11 2002 <br /> <br />Mr. Ken Beck <br />Bureau of Reclamation <br />Western Colorado Area Office <br />835 E 2nd A venue, Suite 300 <br />Durango, Colorado 81301-5475 <br /> <br />Colorado Water Conservauoo Boaro <br /> <br />Dear Mr. Beck: <br /> <br />The New Mexico Interstate Stream Commission (Commission) offers the following remarks in <br />response to the Jicarilla Apache Nation's (Nation) March 22, 2002, Comments on the Advanced <br />Preliminary Draft Environmental Impact Statement (ADEIS) for Navajo Reservoir Operations <br />(Jicarilla Comments). <br /> <br />The Jicarilla Comments suggest that development of the Nation's full water rights, including full <br />use of its Navajo Reservoir Supply water pursuant to its contract with the Secretary of the <br />Interior, should be included in the Navajo Dam Operations Environmental Impact Statement <br />(EIS) as non-binding uses. As part of its argument, the Jicarilla Comments liken such inclusion <br />to the inclusion of non-binding water uses by the Colorado Ute Tribes in the Animas-La Plata <br />Project (ALP) Final Supplemental EIS (FSEIS). A distinction to be made here, however, is that <br />the projected water uses by the Colorado Ute Tribes are the uses of the ALP that were evaluated <br />for the FSEIS and in Endangered Species Act (ESA) Section 7 consultation on the ALP. <br />Likewise, the projected water uses by the Nation will be the uses of a project or projects to be <br />evaluated in a project-specific EIS and ESA Section 7 consultation. <br /> <br />Yet, the Jicarilla Comments essentially suggests that the scope of the Navajo Dam Operations <br />EIS should be expanded to cover National Environmental Policy Act (NEPA) compliance and <br />provide for ESA compliance for both Navajo Dam operations and a non-binding project or <br />projects to use water by the Nation. To do so would be to go beyond the scope of the Federal <br />Register notice of preparation of the draft EIS for Navajo Dam operations. The NEP A and ESA <br />compliance activities for projected future water uses or projects of the Nation should be handled <br />separately in the same manner as current NEPA and ESA compliance activities for the Navajo- <br />Gallup Water Supply Project (NGWSP). <br /> <br />00710 <br />