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Fish and Wildlife : Regulatory Framework and Challenges. Hydrovision 2008 Ocean/Tidal/Stream Power Track 7D “Environmental Protection: Addressing the Regulatory Challenges”. Cherise M. Oram STOEL RIVES LLP. Fish and Wildlife Regulatory Framework. Endangered Species Act Clean Water Act
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Fish and Wildlife: Regulatory Framework and Challenges Hydrovision 2008 Ocean/Tidal/Stream Power Track 7D “Environmental Protection: Addressing the Regulatory Challenges” Cherise M. OramSTOEL RIVES LLP
Fish and WildlifeRegulatory Framework • Endangered Species Act • Clean Water Act • Federal Power Act • National Environmental Policy Act • Marine Mammal Protection Act • Migratory Bird Treaty Act • Magnuson-Stevens Fishery Conservation and Management Act • Coastal Zone Management Act
Regulatory Framework • Endangered Species Act (ESA), section 7 • U.S. Fish and Wildlife Service (FWS): terrestrial, freshwater • National Marine Fisheries Service (NMFS): marine species • No “jeopardy” to species • No “destruction or adverse modification” of critical habitat • Conditions to minimize and monitor incidental take • Clean Water Act (CWA), Section 401 • State water quality certification agency • Condition project to meet water quality standards to protect “beneficial uses,” including aquatic species
Regulatory Framework (cont’d) • Federal Power Act (FPA), section 10(j) • State and Federal fish and wildlife agencies • Recommend license conditions to protect fish and wildlife • National Environmental Policy Act (NEPA) • Federal Energy Regulatory Commission (FERC) • Corps of Engineers, federal land management agencies • Analysis of environmental impacts, alternatives • Public review and comment • Solely procedural; does not mandate particular decision
Regulatory Framework: Marine Only • Marine Mammal Protection Act (MMPA) • NMFS • Incidental Harassment Authorization (4 -6 month time line; 1 year authorization) • Letter of Authorization (issue regulations, 5 year authorization) • With one exception, permit is voluntary • Migratory Bird Treaty Act (MBTA) • FWS • Come to agreement on methods for avoiding/minimizing take
Regulatory Framework: Marine Only (cont’d) • Magnuson-Stevens Fishery Conservation and Management Act (Magnuson Act) • NMFS • Recommendations to protect “Essential Fish Habitat” (EFH) of commercially harvested fish • Coastal Zone Management Act (CZMA) • State CZMA consistency certification agency • Consistency with state coastal zone management plan, including protections for living marine resources
Addressing Uncertainty • What level of information do agencies need? • Doesn’t need to be perfect information • Agencies should: • Use best available data • Data from project site or comparable areas • Use analogous information • Sea lion haul out info from other sites • Noise from similar sources • Sea bed alteration from platforms • Use best professional judgment, document information and thinking
Monitoring, Studies • Obligation to monitor, study • Fish and wildlife agencies will impose conditions to monitor • FERC licensing process requires studies • Can be completed post-licensing if appropriate • Minimize protracted litigation by building stakeholder consensus on initial measures, monitoring, studies • Particularly key for new technology, new locations
Adaptive Management • Use to manage and interpret monitoring, studies • Use to decide whether changes are needed to meet existing authorities • Best available science must support initial application • monitor to confirm assumptions • allows for modifications to address unforeseen impacts
Adaptive Management (cont’d) • Benefits of approach: • Gets projects in the water based on best available data • Neither developer or agencies are “giving up” anything • Agencies have no more or less authority • Developers are not guaranteeing they’ll agree to changes in the future (preserve right to challenge) • Fosters communication, requires attempt to work together before moving to other options • Key: allows generation, development of more information to confirm impact level or modify project
Looking forward • As we learn more about impacts (or lack thereof): • Can be more prescriptive • More monitoring, fewer studies • Insist on more certainty for developers regarding long-term fish and wildlife measures