1 / 31

FCC ’ s NEPA Process

FCC ’ s NEPA Process. Overview of NEPA Overview of FCC ’ s NEPA rules and procedures Nuts and bolts of how to comply with our rules. NEPA.

shermanc
Download Presentation

FCC ’ s NEPA Process

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


  1. FCC’s NEPA Process • Overview of NEPA • Overview of FCC’s NEPA rules and procedures • Nuts and bolts of how to comply with our rules

  2. NEPA • Requires agencies to consider and disclose the environmental effects of their actions to improve decision-making and encourage transparency, public participation, and accountability. • Requires agencies to integrate environmental considerations into their decisions.

  3. NEPA and CEQ regulations • Define effects broadly to include ecological, aesthetic, historic, social, and cumulative and indirect. • Define actions broadly to include programs, rules, funding, licensing, permitting. • NEPA sets out a process—no mandated outcome

  4. NEPA Three levels of review: • ­­Environmental Impact Statements (EISs) • ­Environmental Assessments (EAs) Finding of No Significant Impact (FONSI) • Categorical exclusions (CE, CX, CatEx) “Extraordinary circumstances”

  5. ENVIRONMENTAL REVIEWS

  6. Actions FCC has found to trigger NEPA: • Licensing Spectrum (for associated facility construction) • Registering Towers To meet NEPA obligations, FCC imposes enforceable duties on licensees and applicants FCC has delegated initial assessment of whether proposed facility is CatExed and EA preparation to applicants and licensees FCC has CatExed all agency actions associated with construction of facilities but for those in certain categories (our extraordinary circumstances) FCC’s NEPA PROCEDURES

  7. FCC Extraordinary Circumstances-- Triggers for EA • High intensity white lights in residential neighborhoods • Radiofrequency exposure in excess of FCC guidelines • Located in designated wilderness area or wildlife preserve • Presence of sensitive species or their habitat • Historic districts and properties, Indian religious sites • Floodplain • Significant change in surface features (e.g., wetland fill, water diversion, deforestation) • Structure over 450 feet tall (migratory birds)

  8. Who needs to comply? • Registrants • Tower owners needing to register for aircraft navigation safety - Non-licensee tower owners wanting towers available for collocators • Licensees and spectrum lessees • Commercial licensees, utilities, broadcasters, RR, mining cos… • Site-specific (e.g. public safety) and geographic

  9. How to Comply: FCC Form 854/Form 601 • Prior to FCC’s granting an application, an applicant must certify that the proposed antenna structure will not have a significant effect on the environment. • Certifying means all statements are “true, complete, correct, and made in good faith.” • To answer questions and to certify, complete the NEPA Checklist. Must submit EA if might have significant effect. Retain the Checklist for your records.

  10. NEPA Checklist • Will the facility be located in an officially designated wilderness area? • Will it be located in an officially designated wildlife preserve? • Will the facility affect listed or jeopardize proposed threatened or endangered species (TES) or designated critical habitat? • Will the facility affect districts, sites, buildings, structures or objects significant in American history, architecture, archaeology, engineering or culture that are listed, or are eligible for listing in the National Register of Historic Places? • Will the facility affect Indian religious sites? • Will it be located in a floodplain? • Will construction involve “significant change in surface features (e.g., wetland fill, deforestation or water diversion)”? • Will the facility be over 450 feet (so might affect migratory birds)? • High intensity white lights in residentially zoned neighborhood? • Radio Frequency exposure? All other facility deployments, including deployment of new wireless towers, are categorically excluded.

  11. Form 601 Application for WTB Radio Service Authorization Would a Commission grant of Authorization for this location be an action which may have a significant environmental effect? (22 of Schedule I, 26 of D, 48 of M) See 47 CFR 1.1307. • If “Yes,” submit an EA in accordance with 47 CFR Sections 1.1308 and 1.1311. This item is required for compliance with NEPA. See also Part 1, Subpart I of the FCC rules (47 CFR 1.1301 - 1.1319).

  12. Form 854 Application for Antenna Structure Registration Item 48 Does the applicant certify that authorizations at this location would not have a significant environmental effect pursuant to Section 1.1307? Before certifying, comply with environmental notice requirements and review Section 1.1307 checklist. If “no,” submit an environmental assessment in accordance with 47 CFR 1.1308 and 1.1311.

  13. Options Once an EA is Triggered Begin the EA Process; FCC approval typically takes about 45 days. Consult with agencies on changes to eliminate or mitigate triggering effects. OR

  14. Primary FCC Triggers for EA • May affect historic properties or Indian religious sites • Required if adverse effect found through Section 106 process • Located in 100-year floodplain or wetland • May affect threatened or endangered species or critical habitat • Required if USFWS required formal consultation and Biological Assessment

  15. When EAs are Required EA required under two circumstances • Action meets one or more of specific criteria stated in rules (checklist) • FCC orders EA in response to petition or on own motion • EA requirement applies, if triggered, even if excluded from Section 106 review

  16. Contents of EA Requirements outlined in 47 CFR 1.1311 • Must address all factors in 47 CFR 1.1307(a) and (b) and include info on site selection and alternatives sites, impact of operation and maintenance in sensitive areas, extent of unavoidable effects, features of site with special environmental significance, effects… More than summary of checklist. • Specific expectations for each factor are spelled out in EA checklist

  17. Contents of EA – Endangered Species • Protected species not present • Relevant documentation (typically IPaC response) • Protected species present, but not affected • Determination by USFWS or own qualified biologist • Not likely to Adversely Affect protected species • USFWS concurrence • Likely to Adversely Affect protected species • USFWS incidental take statement

  18. Contents of EA – Historic Properties/Indian Religious Sites • TCNS file number • List of Tribes contacted • If no adverse effect, SHPO/Tribal Nation concurrences or explanation of why concurrences not needed • If adverse effect, MOA or FCC decision on avoidance/mitigation • All relevant correspondence

  19. Contents of EA – Floodplain/Wetland • 100-year floodplain • FEMA map or best available • If in floodplain, showing construction will be at least 1 foot above floodplain • Wetlands • US Army Corps map • If not in wetland, indicate • If wetland fill required, US Army Corps permit or other authorization

  20. Contents of EA – Other Factors • Migratory Birds • Wilderness area/wildlife preserve (wilderness always on federal land, preserve generally on federal land) • Relevant databases, maps, etc. • If in protected area, relevant approvals or permits • High-intensity white lights • Type of lights • Location (will not use high-intensity white lights in residentially zoned area) • Radiofrequency exposure • Certification of compliance with Commission guidelines

  21. Processing of EAs • Placed on Public Notice within one week • 30-day comment period • Staff may request additional information • Will not delay processing if timely response and no material change • If no issues or petitions to deny, FONSI ordinarily granted within 45 days

  22. Environmental Review • If after review, no significant impact, applicant certifies and if no request for further environmental review (854) or petitions to deny (601) or agency ID’d issues, application granted. • If an EA was prepared, and no significant issues, the Commission can issue a FONSI. • If an applicant cannot certify no significant impact, FCC can prepare an EIS prior to approval or the applicant can withdraw the application.

  23. Other agencies • No EA needed if another agency has done NEPA • Federal land management agency EAs and EISs are sufficient, but not CatExs

  24. ENFORCEMENT • Environmental Enforcement – WTB has concurrent jurisdiction with the Enforcement Bureau. • WTB-issued “non-compliance letters” may be basis for increased penalties for future violations.

  25. Enforcement Actions • Letters document compliance violations and formally warn that future violations could result in penalties or referrals to the Enforcement Bureau. • WTB violation letters build a clear record to identify repeat offenders and facilitate appropriate action to address future violations. • Letters are published on the FCC website and have been covered in the trade press. • The FCC can take further action, including monetary fines and other penalties.

  26. COMPLIANCE REVIEW • Failure to perform required environmental and historic preservation review prior to construction can result in significant delays in deployment. • Stop work order may be issued during investigation. • Investigations may take time. • Information gathering/document production • Case review • Potential site visit • Course of action evaluation (Enforcement Bureau referral or WTB-issued letter)

  27. ENVIRONMENTAL COMPLIANCE VIOLATIONS • Failure to complete environmental review requirements (e.g., wetlands, Section 106, Tribal reviews, ESA) prior to ground disturbance/construction. • Falsely certifying “No Environmental Effect” in application. • Failure to submit EA when triggered by the environmental checklist (major modification). • Construction prior to FCC issuing a FONSI following filing and public notice of EA. • Failure to complete required mitigation. • Failure to register a tower prior to construction.

  28. Reminders • The height/design of a tower does not determine whether a proposed tower is subject to the NEPA process – some level of review is required, even for a CatEx • Antenna Structure Registration requires environmental notice, even without an EA • The grant of a license is not permission to construct; even with a license, building without following environmental regs can be a rule violation • A licensee must consider environmental effects and if necessary, complete an EA before constructing facilities not otherwise requiring pre-construction authorization • Refer to rules (1.1307) throughout process, not only form instructions and checklists

  29. More reminders No public safety exception: Rules apply to public safety entities regardless of whether: • the proposed tower is on state, county, or locally-owned land; • a commercial collocator is on site; or • the proposed project is a replacement tower. No replacement tower exception: 106 exception for replacement towers, but no NEPA exception.

  30. Questions? Contact: Erica Rosenberg Erica.Rosenberg@FCC.gov 202.418.1343

More Related