350 likes | 767 Views
OVERVIEW. What is mitigation banking?History of mitigation bankingFederal Guidance MBRT Green BookFundamental requirements of mitigation banksMitigation Service AreaCredit AssessmentBenefits/goals of mitigation bankingMitigation banks in Florida. Mitigation Banking. Mitigation banking
E N D
1. KEY CONCEPTS OF MITIGATION BANKING
2. OVERVIEW What is mitigation banking?
History of mitigation banking
Federal Guidance
MBRT
Green Book
Fundamental requirements of mitigation banks
Mitigation Service Area
Credit Assessment
Benefits/goals of mitigation banking
Mitigation banks in Florida
3. Mitigation Banking
Mitigation banking – wetland restoration, creation, enhancement, and preservation for the purpose of compensating for unavoidable wetland losses in advance of development actions when such compensation cannot be achieved on site or would not be as environmentally beneficial.
4. History Concept of mitigation banking has been around since the 80’s when Corps recognized onsite mitigation was not effective.
Banks at that time were public for usually linear projects.
EPA disagreed with Corps’ concept and promoted onsite mitigation.
5. History Mitigation MOA 1990
August 23, 1993 - the Clinton Administration released package on improvements to Federal wetlands programs including support for the use of mitigation banks.
Subsequently, the Corps and the EPA issued interim guidance clarifying the role of mitigation banks (RGL 93-2).
6. Federal Guidance November 28, 1995 – The Feds jointly issued Federal Guidance for the Establishment, Use and Operation of Mitigation Banks. The Guidance was provided to encourage the effective use of mitigation banks as a means of compensating for the authorized loss of wetlands and other aquatic resources.
7. Federal Guidance A key point of the Federal Guidance is that proposed mitigation banks should be evaluated by an interagency Mitigation Bank Review Team (MBRT).
Banker submits a Prospectus which includes objectives and need for the bank, initiates review by appropriate agencies, and establishes bank goals.
8. Federal Guidance Federal recognition of a mitigation bank is through a mitigation banking instrument (MBI).
MBI describes physical and legal characteristics of the bank.
The MBI is signed by the federal MBRT members and the banker. Signature indicates concurrence on the objectives and administration of the bank.
9. MBRT Federal Representatives (e.g Corps, FWS, NMFS, NRCS, EPA)
State Representatives (e.g. DEP, WMD, FWC)
Tribal Representatives
Local Representatives
10. MBRT Corps serves as Chair.
NRCS serves as Chair if purpose of bank is for complying with FSA.
If bank satisfies requirements of another program, the administering agency serves as co-Chair.
11. MBRT’s Role Facilitate the establishment of mitigation banks through development of the MBI.
Signatory to the MBI.
Oversees the establishment, use, and operation of the bank.
Goal is to obtain consensus.
12. If no consensus is reached within a reasonable time, the Chair makes final decisions regarding the terms and conditions of the MBI.
13. Reviewed 119 wetland fill projects over a 6 month period.
34 percent of proposed mitigation had not been constructed.
The rate of noncompliance was 93 percent.
The rate of actual success and the likelihood of success combined was 27 percent.
14. February 1994 – DEP and WMD’s issued rules for wetland mitigation banking.
State recognition of a bank is through a Mitigation Bank Permit.
15. State/Federal MBRT Process for Florida“Green Book” Serves to implement the Federal Guidance.
Requirement of Federal guidelines but not of the State statute or rules.
Streamlines the evaluation process and reduces redundancy between Federal and State reviews.
Prevents significant time and cost expenditures.
Maximizes interagency coordination.
Does not preclude need for Corps construction permit or guarantee issuance of a State permit.
16. GREEN BOOK CONTENTS:1997/1998 Fundamental requirements of mitigation banks
MBRT process/flow chart
Prospectus guidelines
Mitigation Service Areas
Calculating credits & credit release
Various appendices including Federal Guidance,
Florida Statutes, and outline of a MBI
17. Fundamental Requirements of Mitigation Banks Improve the ecological conditions of the regional watershed
Provide viable and sustainable ecological and hydrological functions for the mitigation service area
Will be effectively managed in perpetuity
Will not destroy areas with high ecological value
Will achieve mitigation success
18. Fundamental Requirements of Mitigation Banks Will be adjacent to lands that will not harm the viability of the mitigation bank due to unsuitable land uses or conditions
Will operate in accordance with State and Federal law
Applicant can legally and financially ensure perpetual management of the land
Can meet the financial responsibility requirements prescribed for mitigation banks
19. Mitigation Service Area(MSA)
The designated area that a bank can reasonably be expected to provide appropriate compensation for unavoidable, authorized impacts. The MSA should be based on hydrologic and ecological criteria.
24. Credit Assessment
The ecological benefits attributable to the banker’s effort are quantified using a wetland functional assessment technique. The delta is multiplied by the acreage to give the number of mitigation “credits.”
Once the bank is authorized, these credits are available for purchase by a developer to fulfill their obligation in accordance with the 404(b)(1) Guidelines.
Assessment methodology used for bank should be used at the impact site.Assessment methodology used for bank should be used at the impact site.
25. Credit Assessment
WRAP
EWRAP
MWRAP
WATER (Wetland Assessment Technique for Environmental Reviews)
FUWMAM
Assessment methodology used for bank should be used at the impact site.Assessment methodology used for bank should be used at the impact site.
26. Cost of Credits – determined by banker Loxahatchee Mitigation Bank
$57,500/herbaceous & $67,500/forested
Bluefield Ranch Mitigation Bank
$40,000/1 agency & $55,000/both
Everglades Mitigation Bank
$46,000/freshwater & $75,000/estuarine
Assessment methodology used for bank should be used at the impact site.Assessment methodology used for bank should be used at the impact site.
27. Credit Release Schedule
10% released up front
Second release following construction
Remaining credits released upon attainment of success criteria which should be tied to the functional assessment
Assessment methodology used for bank should be used at the impact site.Assessment methodology used for bank should be used at the impact site.
28. Adjacent to protected land / corridor
Large in size
High likelihood of success
Protects rare and unique habitats
Historically appropriate
Reference wetlands to evaluate success
Provides full suite of wetland functions and values
29. Benefits of Mitigation Banking
Consolidation of several small, fragmented mitigation projects into one large, strategically located site (inherent benefits to wide-ranging species)
Increased likelihood of mitigation success
Temporal loss is minimized since the mitigation is successful in advance of wetland impact
30. Goal of Mitigation Banking
To provide economically efficient and flexible mitigation opportunities while fully compensating for wetland and other aquatic resource losses in a manner that contributes to long-term ecological functioning of the watershed.
36. THANK YOU