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Last modified
3/7/2024 12:41:32 PM
Creation date
3/7/2024 12:39:29 PM
Metadata
Fields
Template:
Official Documents
Official Document Type
Amendment
Approved Date
02/20/2024
Control Number
2024-044
Agenda Item Number
8.L.
Entity Name
Masteller & Moler, Inc.
Subject
Amendment No. 2 to Work Order No. 14 for North County Spoonbill Marsh River Intake Station
Access WWTF 24” Force Main Replacement IRCDUS Proj. ID 21.23.503
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M J MASTELLER & MOLER, INC. <br />1655 27" <br />Ste. 2, Vero Beach, FL 32960 <br />M CIVIL ENGINEERS — (772) 567-5300 <br />alternative that most successfully balances cost effectiveness, viability, and <br />permittability. <br />B. Development of Mitigation Plan (IF REQUIRED): Atlantic Environmental will coordinate <br />with IRC Staff, project engineer, and FDEP to develop a mitigation plan to compensate <br />for proposed wetland impacts, conduct meetings with these agencies and IRC/engineer, <br />and establish the proposed mitigation plan. <br />C. Site Meeting: Atlantic Environmental will conduct an on-site meeting at both the project <br />site and, if required, the mitigation site with FDEP to allow their assessment of the project <br />and mitigation project, as well as the completion of the UMAM Analysis. <br />D. ERP Application: Based on information obtained from the regulatory agencies and the <br />client, Atlantic Environmental will develop the environmental portion of the <br />Environmental Resource Permit (ERP) Application, including all necessary forms, <br />narratives, mitigation plan, maps, tables, and UMAM data sheets. <br />E. Submittal of RAI Responses: Atlantic Environmental will prepare the environmental <br />responses to 2 FDEP RAls, including, but not limited to, narrative descriptions of impacts <br />and proposed mitigation, site plan, associated environmental maps and figures, and, <br />monitoring plan and schedule. Atlantic Environmental will coordinate with IRC Staff, the <br />project engineer, and FDEP to obtain all information necessary for the completion of the <br />responses. <br />F. Coordination: Complete necessary coordination between IRC Staff, the project engineer, <br />and remaining project team in order to speed permitting process and avoid costly time <br />delays. <br />G. Negotiation: Due to limited space and the fact the County does not own the subject <br />lands, we have assumed the mitigation plan will consist of a negotiated payment to a <br />mitigation bank. <br />• USACE Environmental Permitting (by Atlantic Environmental of Florida): <br />H. UMAM Analysis (IF REQUIRED): Based on the site inspections and coordination with the <br />USACE, Atlantic Environmental will develop a UMAM analysis for any wetland impact <br />allowing the Functional Loss that will occur to the wetlands as a result of the project. In <br />addition, Atlantic Environmental will develop a wetland mitigation strategy that will <br />provide sufficient Relative Functional Gain to offset the calculated Functional Loss. The <br />UMAM analysis will be generated for a mitigation alternative that most successfully <br />balances cost effectiveness, viability, and permittability. <br />I. Development of Mitigation Plan (IF REQUIRED): Atlantic Environmental will coordinate <br />with IRC Staff, project engineer, and USACE to develop a mitigation plan to compensate <br />for proposed wetland/SAV impacts, conduct meetings with these agencies and <br />IRC/engineer, and establish the proposed mitigation plan. <br />Page 7 of 11 <br />
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