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�TKI��JS <br />closeout submittals. Re -inspections are not anticipated and were not included in the fee <br />estimation for this task. <br />Upon construction completion, the Engineer will prepare a post construction report. This report <br />will consist of a brief narrative of the project progress, from start to finish, and it will include, as <br />attachments, key construction documentation. The intent of the report is to provide the County <br />with one location to access key documentation and to be used with permit compliance submittals. <br />H. Permit Compliance <br />The Engineer will assist the County with permit compliance requirements for the Florida <br />Department of Environmental Protection (FDEP) and the US Army Corps of Engineers (USACE) <br />by completing the tasks outlined below. <br />The Engineer will prepare and submit commencement notifications for both FDEP and USACE <br />The Engineer will review the contractor's daily turbidity monitoring reports for compliance with <br />the contract documents. The Engineer will submit the turbidity monitoring reports to FDEP on a <br />weekly basis. <br />The Engineer will prepare and submit completion notifications for both FDEP and USACE. <br />SECTION 2 ASSUMPTIONS AND EXCLUSIONS <br />1. Application fees, impact fees and any other fees required by regulatory agencies are considered a direct <br />expense to the County and are not included in this scope and fee. <br />2. It is assumed the pedestrian bridge to be demolished is owned by the County, and that coordination <br />with, or approvals from, FDOT will not be required for its removal. <br />3. It is assumed that the demolition work will be managed from the waterside (i.e. a barge) and that no <br />work will be conducted form the highway bridge. If it is determined that work will be done from the <br />highway bridge, coordination and approval from FDOT may be required. Such coordination and <br />approval would be outside this scope of services and would be considered an additional service. <br />4. It is understood that the County obtained regulatory approval for disposal of the pier demolition debris <br />at an offshore location. This work was done by internal County staff. <br />5. It is assumed the County Purchasing Department will lead the bid process, facilitate the pre bid meeting, <br />issue addenda, and compile the bid tabulation. <br />6. The ultimate decisions related to regulatory approvals and funding assistance lie outside of the <br />Engineer's control. The Engineer cannot guarantee issuance of regulatory approvals or funding. <br />7. Creation or modification of a State owned submerged lands lease or easement is not included in this <br />scope of services. <br />8. Seagrass monitoring and reporting is not included with this scope and fee. However, it may be required <br />by regulatory agencies. That requirement would be determined during the formal permitting process. <br />If it is required, Atkins can provide those services as additional services. <br />9. It is understood that the County is pursuing funding assistance from FEMA. Services to assist with this <br />effort, along with meeting compliance requirements associated with FEMA funding, are not included <br />in this scope and fee. <br />10. It is assumed that the project will meet the Florida Statewide Programmatic Opinion (SWPBO) <br />thresholds for Activity #10 in Consultation, Removal of Marine Debris. If the USACE determines the <br />project does not meet these thresholds, they may require outside consultation. This could result in an <br />increase in the duration of the permitting process. <br />Page 6 of 7 <br />P34 <br />