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Emergency Watershed Protection

Emergency Watershed Protection. Program Modifications. Why Did We Need a New Rule?. Oversight &Evaluation findings: Inconsistency Ineligible Work Improper cost-share allowed Environmental concerns Inadequate PEIS Floodplain Easement added (Administrative Procedures Act). Chronology.

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Emergency Watershed Protection

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  1. Emergency Watershed Protection Program Modifications

  2. Why Did We Need a New Rule? • Oversight &Evaluation findings: • Inconsistency • Ineligible Work • Improper cost-share allowed • Environmental concerns • Inadequate PEIS • Floodplain Easement added (Administrative Procedures Act)

  3. Chronology • Floodplain easements added to EWP in 1996 • NRCS O&E deficiencies cited 11/10/97 • Initiated work on PEIS with NOI Sep 1998 • 6 public forums from Sept-Oct 1998 • Draft PEIS published in 1999 • Proposed rule first cleared by NRCS 9/6/00 • Proposed rule cleared by NRCS and USDA on 9/10/02 and forwarded to OMB, but was withdrawn by NRCS • Proposed rule published for comment 11/19/03

  4. Clarify “Exigency” and Drop “Non-exigency” • Variety of interpretations • Waiving requirements for NEPA • Cost-sharing tied to categories • O&E report recommended change needed • All sites considered an “emergency” • Need to work with USACE on permits • Provides more consistency

  5. EWP Priorities • Sets EWP priorities • Exigency situations would have the highest priority

  6. Cost-Share Rate of up to 75% • 1981 Rule allows up to 100% in exigent situations – 1993 policy said no more than 75 % • Rate of 75% same as other agencies

  7. Limited Resource Area Cost-Share • Limited Resource Areas • Up to 90 percent cost-share • Based on National Census Data • 11 Percent of the counties will qualify

  8. EWP Project Defensibility • Damage Survey Reports modified in 2000 to ensure that EWP projects meet the defensibility requirements • DSR modified in 2005

  9. Disaster Recovery Readiness • Interagency coordination • Know what agencies will require ahead of time • Know key people well enough to have their trust and cooperation • Pre-disaster planning • Emergency Recovery Plans (ERPs) • Required as well as annual reviews • Include all state and federal disaster agencies

  10. Apply Principles of Fluvial Geomorphology • NRCS received criticism on how we work in streams • Stream Restoration Handbook has started to bring about change • Training conducted in 2000 at regional workshops

  11. Fund Improved Alternative Solutions • Sponsors or landowners often want to do more than is necessary • OK within reason; extra is not at government expense • Emphasizes “locally led”, more responsive to local needs

  12. Work in Floodplains and Upland Areas • NRCS has typically limited itself to stream and adjacent areas • Would include all land uses but must still meet statutory requirements for eligibility • Allow debris clean up from tornadoes and sediment removal

  13. Repair Enduring Conservation Practices • Includes waterways, terraces, diversions, lagoons installed by anyone • Must meet NRCS standards • Will not compete with FSA’s Emergency Conservation Program • Continue to repair dams constructed under PL 78-534 and 83-566 • Sponsors are required

  14. Limiting Repairs to Twice in Ten Years • Repair to pre-existing, stable conditions • Not the federal government’s job to bail out on a continual basis • NRCS will repair the same site twice within 10 years (as of May 4, 2005) • Do nothing or floodplain easements only option after that • Does not include debris removal

  15. Multiple Beneficiaries Not Required • Policy has always been this way to avoid windfall benefits • Experience shows there are almost always downstream benefits as well • Damage Survey Reports (DSRs) should contain this info • Do not expect any change in delivery to result from this rule change

  16. EWP Funds Used on Federal Lands • Previously, EWP funds used to fund Forest Service projects • EWP funds will only be used on Federal lands when adequate safeguards are followed to avoid inappropriate augmentation of appropriations for other Federal agencies

  17. Removal of Structures • When it is the least costly alternative, landowner volunteers, and does not involve a leasee or rentor • Sponsor is required • NRCS provides cost-share to purchase and remove structure

  18. Review of Program Changes • Exigency –Clarified & no longer use Non-exigency • Set Priorities-Exigency have highest • Cost-share 75% • Limited Resource cost-share 90%

  19. Review of Program Changes • Disaster Recovery Readiness • Bioengineering • Alternative Solutions • Work away from streams • Repair Enduring Conservation Practices

  20. Review of Program Changes • DSR modified to ensure defensibility • Two-in-Ten year repair • Single Beneficiary • Funds not used on Federal lands

  21. Summary • Expands the EWP program • More equitable program • Ensures NRCS has the full range of emergency “tools” • Emphasizes NRCSs commitment to conserve and protect the environment • Will not infringe on FSA’s or FEMA,s authority

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