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2013-06-28_PERMIT FILE - M2012052
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2013-06-28_PERMIT FILE - M2012052
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Last modified
8/24/2016 5:21:49 PM
Creation date
7/2/2013 2:15:28 PM
Metadata
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Template:
DRMS Permit Index
Permit No
M2012052
IBM Index Class Name
PERMIT FILE
Doc Date
6/28/2013
Doc Name
Review
From
COE
To
Providence Mining, LLC
Email Name
TC1
TAK
AJW
Media Type
D
Archive
No
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-6- <br />❑ Wetlands directly abut RPW and thus are jurisdictional as adjacent wetlands. <br />❑ Wetlands directly abutting an RPW where tributaries typically flow year- round. Provide data and rationale indicating that <br />tributary is perennial in Section III.D.2, above. Provide rationale indicating that wetland is directly abutting an RPW: <br />❑ Wetlands directly abutting an RPW where tributaries typically flow "seasonally." Provide data indicating that tributary is <br />seasonal in Section 111.13 and rationale in Section III.D.2, above. Provide rationale indicating that wetland is directly <br />abutting an RPW: <br />Provide acreage estimates for jurisdictional wetlands in the review area: acres. <br />5. Wetlands adjacent to but not directly abutting an RPW that flow directly or indirectly into TNWs. <br />❑ Wetlands that do not directly abut an RPW, but when considered in combination with the tributary to which they are adjacent <br />and with similarly situated adjacent wetlands, have a significant nexus with a TNW are jurisidictional. Data supporting this <br />conclusion is provided at Section III.C. <br />Provide acreage estimates for jurisdictional wetlands in the review area: acres. <br />6. Wetlands adjacent to non -RPWs that flow directly or indirectly into TNWs. <br />❑ Wetlands adjacent to such waters, and have when considered in combination with the tributary to which they are adjacent and <br />with similarly situated adjacent wetlands, have a significant nexus with a TN W are jurisdictional. Data supporting this <br />conclusion is provided at Section III.C. <br />Provide estimates for jurisdictional wetlands in the review area: acres. <br />7. Impoundments of jurisdictional waters.9 <br />As a general rule, the impoundment of a jurisdictional tributary remains jurisdictional. <br />❑ Demonstrate that impoundment was created from "waters of the U.S.," or <br />❑ Demonstrate that water meets the criteria for one of the categories presented above (1 -6), or <br />❑ Demonstrate that water is isolated with a nexus to commerce (see E below). <br />E. ISOLATED [INTERSTATE OR INTRA- STATE1 WATERS, INCLUDING ISOLATED WETLANDS, THE USE, <br />DEGRADATION OR DESTRUCTION OF WHICH COULD AFFECT INTERSTATE COMMERCE, INCLUDING ANY <br />SUCH WATERS (CHECK ALL THAT APPLY):t0 <br />❑ which are or could be used by interstate or foreign travelers for recreational or other purposes. <br />❑ from which fish or shellfish are or could be taken and sold in interstate or foreign commerce. <br />❑ which are or could be used for industrial purposes by industries in interstate commerce. <br />❑ Interstate isolated waters. Explain: <br />❑ Other factors. Explain: <br />Identify water body and summarize rationale supporting determination: <br />Provide estimates for jurisdictional waters in the review area (check all that apply): <br />❑ Tributary waters: linear feet, wide. <br />❑ Other non- wetland waters: acres. <br />Identify type(s) of waters: <br />❑ Wetlands: acres. <br />F. NON - JURISDICTIONAL WATERS, INCLUDING WETLANDS (CHECK ALL THAT APPLY): <br />❑ If potential wetlands were assessed within the review area, these areas did not meet the criteria in the 1987 Corps of Engineers <br />Wetland Delineation Manual and/or appropriate Regional Supplements. <br />❑ Review area included isolated waters with no substantial nexus to interstate (or foreign) commerce. <br />❑ Prior to the Jan 2001 Supreme Court decision in "SWANCC," the review area would have been regulated based solely on the <br />"Migratory Bird Rule" (MBR). <br />❑ Waters do not meet the "Significant Nexus" standard, where such a finding is required for jurisdiction. Explain: <br />❑ Other: (explain, if not covered above): <br />9 To complete the analysis refer to the key in Section III.D.6 of the Instructional Guidebook. <br />10 Prior to asserting or declining CWA jurisdiction based solely on this category, Corps Districts will elevate the action to Corps and EPA HQ for <br />review consistent with the process described in the Corps/EPA Memorandum Regarding CWA Act Jurisdiction Following Rapanos. <br />
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