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ESP 179 Environmental Impact Analysis Professor Quinn Spring 2007

ESP 179 Environmental Impact Analysis Professor Quinn Spring 2007. NEPA, CEQA, and “Best Available Science” April 12, 2007. CEQA and NEPA. NEPA analysis is required when a federal agency is co-lead project requires a discretionary federal permit, authorization, or funding

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ESP 179 Environmental Impact Analysis Professor Quinn Spring 2007

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  1. ESP 179Environmental Impact AnalysisProfessor QuinnSpring 2007 NEPA, CEQA, and “Best Available Science” April 12, 2007

  2. CEQA and NEPA • NEPA analysis is required when • a federal agency is co-lead • project requires a discretionary federal permit, authorization, or funding • federal land is involved • Research, hearings, and document preparation may be shared • Agencies may prepare a joint Neg Dec and FONSI • NEPA documents may satisfy CEQA • with notice and full circulation and comment • CEQA documents do not ordinarily satisfy NEPA

  3. CEQA Lead Agency Responsible Agency Categorical Exemption Notice of Preparation Initial Study Negative Declaration Environmental Impact Report Findings NEPA Lead Agency Cooperating Agency Categorical Exclusion Notice of Intent Environmental Assessment Finding of No Significant Impact Environmental Impact Statement Record of Decision Terminology

  4. Take Home Messages • NEPA and CEQA are primarily procedural • Don’t mess up the procedure! • Deadlines • Required elements • Good checklists are available – follow them! • Penalty is usually delay • Reworkings can’t be accelerated • Expensive – opportunity costs • Disclosure is your friend • Argue over the policy, not the facts • Try to make the argument economic

  5. Take Home Messages • The test of adequacy is about more balance and “good faith” than actual correctness • Effective assessments minimize advocacy • Be respectful toward comments and critiques • Exhaustive treatment is not required • Set the terms of debate • A good project description is essential • Scope early and often • When possible, engage possible critics and reviewers early

  6. Choose Alternatives Effectively • Major viewpoints should be represented • Again, the importance of scoping and consultation • Avoid polarization • Capture the range of options, but not necessarily every feasible option • Bracket preferred alternatives

  7. Practical Considerations • Strive for “one-stop shopping” • NEPA documents can satisfy CEQA • Many other federal actions satisfy NEPA • Use the same data and assessments in permit applications (e.g., NPDES, incidental take permits, etc.) • In practice, detailed policy is set by case law • Don’t skimp on lawyers • The future of the landscape is largely determined on Tuesday nights

  8. “Best Available Science” “Junk Science”

  9. “Peer Review is the Gold Standard”

  10. Peer Review • “The worst system except for all others” • A relatively recent development in academic and research agency practice • Literature is fragmented • Paper-counting and LPUs • Hypothesis testing • Little funding or professional recognition for survey and monitoring work • Often not useful for comparative analyses • meta-analysis

  11. Finding Peer-Reviewed Literature • Where do you go? • Access?

  12. Non-Peer-Reviewed sources • (Everything that is actually useful?)

  13. Non-Peer-Reviewed sources • Government databases • Private data resources • Repackaging public data • Grey literature • EIRs, EISs, permit documents… • Imagery • (our next few sessions)

  14. Custom Surveys • Biological resources • Hydrology and groundwater • Soils • Hazards • Visitation and public use • Traffic • Noise • Archeological/cultural/historical • Environmental Justice considerations • (and…) Try to identify surveys needed at the scoping stage

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