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SECTION 404 PERMIT NEXT MAJOR REVIEW FOR SDS
Colorado Springs Utilities is developing an application for a Section
404 permit (404 Permit) from the U.S. Army Corps of Engineers (Corps).
The 404 Permit is required by the Clean Water Act when a project
involves the discharge of dredged or fill materials in waters of
the United States, including wetlands, unless the activity is exempt
from Section 404 regulation. The 404 Permit process requires a detailed
review of the project by the Corps and the Environmental Protection
Agency (EPA) and includes an opportunity for public review and comment.
A recent story in the Pueblo Chieftain suggested that a separate
environmental study for the SDS may be required by the Corps. Reclamation
decided not to include the separate environmental review requirements
for a 404 Permit in its DEIS because there’s no requirement
for combining the two, and there is a possibility that Reclamation
could approve an alternative that would not require a 404 Permit.
The decision was made at that time to keep the NEPA and 404 Permit
processes separate, in the event that the selected SDS alternative
did not require a 404 Permit. As part of their consideration of
the 404 Permit application, the Corps will review the DEIS and may
produce an Environmental Assessment that highlights considerations
applicable to the Clean Water Act.
The article also suggests a need to study groundwater use, reuse
of return flows and new sources of water. The story implies that
these potential sources were neglected by the DEIS.
In fact, both Colorado Springs Utilities and Reclamation studied
all of these issues in detail while Reclamation was preparing its
DEIS on SDS. For example, in its alternatives screening, Reclamation
considered six reuse alternatives and rejected all of them because
of cost and environmental issues. Groundwater was rejected as an
alternative because it would require more than 500 wells at a cost
of roughly $500,000 apiece – which was rejected as impractical
and too expensive. Consideration of other sources of water, beyond
those we own in the Arkansas River would not have resulted in additional
viable alternatives to the seven currently considered in the DEIS.
Other sources of water are clearly impracticable in terms of environmental
impacts and sheer cost.
Also important to note is the fact that SDS will allow us to make
more efficient use of our existing water rights, which increases
the overall efficiency of the Fryingpan-Arkansas Project, and means
SDS will not require additional Fryingpan-Arkansas Project water
from the Western Slope.
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