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NMASTELLER & MOLER, INC. <br />M � CIVIL ENGINEERS ^' <br />M — CIVIL ENGINEERS - <br />EXHIBIT "A" <br />AMENDMENT #2 TO WO # 1 - Masteller & Moler, Inc. <br />49th Street / US1 Intersection Improvements <br />Professional Engineering Services <br />This Amendment is for Environmental Assessment and Mitigation Coordination Sub -Consultant <br />services to be performed by Atlantic Environmental Solutions <br />Scope of Work. <br />Wetlands <br />WETLAND DELINEATION <br />AES will traverse the boundaries of the on-site wetland systems and mark the wetland <br />contours with surveyor's flagging tape/stakes at each change in direction, based upon <br />vegetative, soil, and hydrologic indicators Every reasonable attempt will be made to maximize <br />the areas of available uplands while still maintaining our ability to defend the flagged wetland <br />limits against the delineation protocols of SJRWMD and USACE. Upon completion of the field <br />work, AES will provide a map showing the approximate location of the wetland lines and key <br />flag points. The limits of wetland flagging will be sufficient to allow for determination of wetland <br />impacts by the project. <br />AES will conduct an on-site meeting with SJRWMD and, if willing USACE, to gain their <br />approval of the delineated wetland lines and determine the limits of their jurisdiction AES will <br />coordinate with the project surveyor to pick up wetland flag points <br />PROFESSIONAL FEE: $ 2,070.00 ($ 1,800 00 x 1 15) <br />WETLAND PERMITTING <br />UMAM ANALYSIS <br />Based on the site inspection and coordination with SJRWMD and USACE, AES will develop a <br />UMAM analysis of the impact site allowing the Functional Loss that will occur to the wetlands <br />as a result of the project to be determined. In addition, AES will develop a wetland mitigation <br />strategy that will provide sufficient Relative Functional Gain to offset the calculated Functional <br />Loss. The UMAM analysis will be generated for a mitigation alternative that most successfully <br />balances cost effectiveness, viability, and permittability. Should USACE not assert jurisdiction <br />over the on-site wetlands, a No Permit Required will be obtained from this regulatory agency. <br />DEVELOPMENT OF MITIGATION PLAN <br />AES will coordinate with the developer, engineer, SJRWMD, and USACE to develop a wetland <br />mitigation plan to compensate for proposed wetland impacts, conduct meetings with these <br />agencies and the client/engineer, and establish the proposed mitigation plan <br />ERP APPLICATION <br />Based on information obtained from the regulatory agencies and the client, AES will develop <br />the environmental portion of the Environmental Resource Permit (ERP) Application, including <br />all necessary forms, narratives, mitigation plan, maps, tables, and UMAM data sheets <br />1655 27th Street, Suite 2 • Vero Beach, Florida 32960 <br />Phone: (772) 567-5300 • Fax: (772) 794-1106 <br />mastmolr@bellsouth.net <br />
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