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provide coordination of the survey work and review the final product. CDM will also provide <br /> oversight of the soil borings, piezometer installations and review the geotechnical report <br /> generated by the subconsultant. CDM will take piezometer water levels periodically and will <br /> also install a water level recorder on one of the piezometers in order to record the groundwater <br /> level fluctuations over time . <br /> TASK 200 - FDEP CONCEPTUAL ENVIRONMENTAL RESOURCE PERMIT AND USACE <br /> INDIVIDUAL PERMIT <br /> Task 200 is the preparation and submittal of the FDEP ERP. The ERP permitting process has <br /> been discussed with the FDEP Central District. A Conceptual ERP will be required initially for <br /> the overall development of the Northern Expansion Area . An ERP is required to permit <br /> stormwater discharges and wetland impacts in this area . An ERP is also required by the FDEP <br /> in order to abandon (fill) the C-5 Canal located at the IRC Landfill. The ERP application is a joint <br /> application which will be forwarded by FDEP to the USACE IP application. <br /> The application requires information on the site, environmental considerations, including <br /> wetland delineations, plans, construction schedule and techniques, stormwater BMP' s, drainage <br /> information, operations and maintenance, legal documentation, and water use . <br /> Subtask 210 Habitat Characterization and Wetland Jurisdictional Determinations (FDEP & USACE) <br /> IRC has acquired the M&W Pump Company Property. An inventory of uplands and wetlands <br /> on the project site that will be affected by the proposed improvements will be provided . Field <br /> reconnaissance will be performed to identify upland habitats that may support listed species, <br /> determine the type and condition of existing wetlands, including normal pool elevations, and to <br /> determine wetland jurisdictional boundaries (FDEP and USACE) . Wetland jurisdictional <br /> determinations are required for wetland areas that will be impacted. Therefore wetland <br /> jurisdictional boundary surveys will be required . Field reconnaissance will also be performed to <br /> determine which listed species occur on the project site . This subtask includes a field meeting <br /> with each agency (FDEP, USACE) to verify wetland jurisdictional boundaries . <br /> The previous wetland line which was flagged will be updated and verified in preparation for <br /> field visits by agency representatives . CDM will be assisted by an ecological subconsultant in <br /> the wetland jurisdictional determinations . After each agency has reviewed the flagged <br /> jurisdictional line in the field, a survey will be performed to document the jurisdictional line <br /> location. <br /> An Existing Wetland Delineation Report will be expanded to include the additional M&W <br /> property and the wetland mitigation parcel and will cover : <br /> ■ A description of the wetlands and the acreage, <br /> ■ A summary of the wetland findings, <br /> ■ Map (s) (scale 1 " =200' ) of the approximate wetland boundary, <br /> ■ A summary of the methodology for wetland delineations, <br /> ■ An evaluation of the site west of I-95 for wetland mitigation activities, and <br /> ■ A wetland functional analysis will be performed for each agency to determine mitigation <br /> requirements for all wetlands . <br /> B_3 rb4508. doc <br />