file
Transcription
file
1 2 3 ENVIRONMENTAL IMPACT STATEMENT FOR THE FOLEY LAND CUT PORTION OF THE GULF INTRACOASTAL WATERWAY 4 5 GULF SHORES AND ORANGE BEACH, ALABAMA 6 7 8 9 10 DRAFT FEBRUARY 2009 11 12 13 14 15 16 17 18 19 20 Submitted to: U.S. Army Corps of Engineers Mobile District Mobile, Alabama Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 49 50 Contents 1.0 Purpose, Need, and Scope ............................................................................ 1-1 1.1 INTRODUCTION ........................................................................................................................ 1-1 1.2 PURPOSE OF AND NEED FOR THE PROPOSED ACTION ................................................... 1-3 1.2.1 Market Demand .................................................................................................................... 1-3 1.2.2 Gulf Shores/Orange Beach Site Selection ............................................................................ 1-3 1.3 SCOPE .......................................................................................................................................... 1-3 1.4 PUBLIC INVOLVEMENT .......................................................................................................... 1-5 1.4.1 NEPA Public Involvement Process ...................................................................................... 1-5 1.4.2 Notice of Intent .................................................................................................................... 1-5 1.4.3 Scoping Process ................................................................................................................... 1-6 1.4.4 Relevant Public Comments Addressed in the EIS ............................................................... 1-9 1.4.5 Additional Resource Areas to be Addressed in the EIS ..................................................... 1-11 1.4.6 Public Review of the Draft EIS .......................................................................................... 1-12 1.4.7 Final EIS............................................................................................................................. 1-12 1.4.8 Record of Decision ............................................................................................................. 1-12 1.5 REGULATORY AUTHORITIES AND PROCESSES ............................................................. 1-12 1.6 RELEVANT STATUTES AND EXECUTIVE ORDERS ......................................................... 1-14 2.0 Proposed Action and Alternatives ................................................................ 2-1 2.1 STATEMENT OF THE PROPOSED ACTION .......................................................................... 2-1 2.1.1 47 Canal Place ...................................................................................................................... 2-3 2.1.2 501 Point West ..................................................................................................................... 2-5 2.1.3 Bayside Harbour................................................................................................................... 2-8 2.1.4 Bon Secour Village East .................................................................................................... 2-10 2.1.5 Bon Secour Village West ................................................................................................... 2-12 2.1.6 Delfino Resort Phase 1 ....................................................................................................... 2-14 2.1.7 Delfino Resort Phase 2 ....................................................................................................... 2-16 2.1.8 Harbour Lights ................................................................................................................... 2-17 2.1.9 KFPH Properties ................................................................................................................ 2-19 2.1.10 Lawrenz Eastern Marina ................................................................................................ 2-21 2.1.11 Lawrenz Western Marina............................................................................................... 2-23 2.1.12 Oyster Bay Marina ......................................................................................................... 2-25 2.1.13 Summerdance................................................................................................................. 2-27 2.1.14 Walker Creek/Portage Crossing ..................................................................................... 2-35 2.1.15 Waterways East.............................................................................................................. 2-37 2.1.16 Alabama Marine Resources ........................................................................................... 2-39 2.1.17 Wetland Impacts ............................................................................................................ 2-39 2.2 GENERAL REQUIREMENTS APPLICABLE FOR ALL DEVELOPMENTS ....................... 2-40 2.3 ALTERNATIVES....................................................................................................................... 2-40 2.3.1 Alternative Considered but not Selected for Detailed Analysis ......................................... 2-40 2.3.2 Alternatives Selected for Detailed Analysis....................................................................... 2-41 2.4 MITIGATION PLAN AND MANAGEMENT OPTIONS ........................................................ 2-44 2.4.1 Mooring Facilities .............................................................................................................. 2-44 2.4.2 Mooring Facilities Maintenance......................................................................................... 2-45 2.4.3 Design and Use Conditions to any Permit ......................................................................... 2-45 2.4.4 Signage on FLC.................................................................................................................. 2-47 2.4.5 Map for Commercial Operators ......................................................................................... 2-47 2.4.6 Marine Police ..................................................................................................................... 2-47 2.4.7 Boater Education ................................................................................................................ 2-47 2.4.8 City’s Overhead ................................................................................................................. 2-47 Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 i Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 49 50 2.4.9 Impact Fee Credits ............................................................................................................. 2-47 2.4.10 Assessments ................................................................................................................... 2-47 2.4.11 Miscellaneous Legal Principles ..................................................................................... 2-47 2.4.12 Savings Clause ............................................................................................................... 2-48 2.5 ADDITIONAL MITIGATION/MANAGEMENT MEASURES............................................... 2-48 2.5.1 Regulated Navigation Area ................................................................................................ 2-48 2.5.2 Hazardous Cargo Operation ............................................................................................... 2-48 3.0 Affected Environment .................................................................................. 3-1 3.1 INTRODUCTION ........................................................................................................................ 3-1 3.1.1 Regional Geographic Setting and Location.......................................................................... 3-1 3.1.2 Overview and History .......................................................................................................... 3-1 3.1.3 Climate ................................................................................................................................. 3-1 3.2 LAND USE AND LAND COVER............................................................................................... 3-2 3.2.1 Land Use Trends .................................................................................................................. 3-2 3.2.2 Existing Land Use/Land Cover ............................................................................................ 3-2 3.2.3 GIS Data ............................................................................................................................... 3-4 3.2.4 Zoning .................................................................................................................................. 3-5 3.2.5 Land Use Plans ..................................................................................................................... 3-6 3.3 WATER RESOURCES AND WATER QUALITY ..................................................................... 3-8 3.3.1 Watershed Characterization ................................................................................................. 3-8 3.3.2 Hydrogeology/Groundwater............................................................................................... 3-10 3.3.3 Water Quality ..................................................................................................................... 3-11 3.4 INFRASTRUCTURE ................................................................................................................. 3-15 3.4.1 Traffic and Transportation ................................................................................................. 3-15 3.4.2 Utilities ............................................................................................................................... 3-27 3.5 SOCIOECONOMICS ................................................................................................................. 3-38 3.5.1 Population .......................................................................................................................... 3-38 3.5.2 Employment ....................................................................................................................... 3-41 3.5.3 Income ................................................................................................................................ 3-46 3.5.4 Housing .............................................................................................................................. 3-48 3.5.5 Quality of Life .................................................................................................................... 3-50 3.5.6 Environmental Justice ........................................................................................................ 3-56 3.5.7 Protection of Children ........................................................................................................ 3-57 3.6 RECREATIONAL RESOURCES .............................................................................................. 3-57 3.6.1 Boating Access ................................................................................................................... 3-58 3.6.2 FLC Recreational and Commercial Use............................................................................. 3-58 3.6.3 Boating Safety .................................................................................................................... 3-61 3.6.4 Recreational Sanitary Services ........................................................................................... 3-61 3.6.5 Gulf State Park ................................................................................................................... 3-61 3.6.6 Water Recreation ................................................................................................................ 3-62 3.6.7 Other Recreational Resources ............................................................................................ 3-62 3.7 GEOLOGY AND SOILS ........................................................................................................... 3-63 3.7.1 Geology .............................................................................................................................. 3-63 3.7.2 Soils .................................................................................................................................... 3-63 3.8 ECOLOGICAL SYSTEMS ........................................................................................................ 3-66 3.8.1 Overview ............................................................................................................................ 3-66 3.8.2 Vegetative Communities .................................................................................................... 3-67 3.8.3 Wildlife .............................................................................................................................. 3-68 3.8.4 Sensitive Species ................................................................................................................ 3-70 3.8.5 Sensitive Habitats ............................................................................................................... 3-73 Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 ii Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 49 50 3.8.6 Wetlands ............................................................................................................................. 3-76 3.9 CULTURAL RESOURCES ....................................................................................................... 3-79 3.9.1 Prehistoric and Historic Background of the Project Region .............................................. 3-79 3.9.2 Cultural Resources Compliance ......................................................................................... 3-82 3.9.3 Cultural Resources in the Project Area .............................................................................. 3-82 3.9.4 Native American Resources at Fort Lee............................................................................. 3-84 3.9.5 Pending Investigations and Compliance ............................................................................ 3-84 3.10 AIR QUALITY ...................................................................................................................... 3-84 3.10.1 National Ambient Air-Quality Standards and Attainment Status .................................. 3-84 3.10.2 State Implementation Plan ............................................................................................. 3-85 3.10.3 Local Ambient Air Quality ............................................................................................ 3-85 3.10.4 Ozone in the Gulf Coast Region .................................................................................... 3-85 3.11 HAZARDOUS AND TOXIC SUBSTANCES AND POLLUTION ..................................... 3-86 3.11.1 Hazardous Waste Facilities in Southern Baldwin County ............................................. 3-88 3.11.2 Baldwin County Hazardous Waste Sites ....................................................................... 3-88 3.12 NOISE .................................................................................................................................... 3-88 3.12.1 Noise Fundamentals ....................................................................................................... 3-88 3.12.2 Regulatory Overview ..................................................................................................... 3-90 3.12.3 Aircraft Noise ................................................................................................................ 3-92 3.12.4 Boating Noise ................................................................................................................ 3-94 3.13 LIGHT POLLUTION ............................................................................................................. 3-94 3.13.1 Overview........................................................................................................................ 3-94 3.13.2 Marine Navigation ......................................................................................................... 3-94 3.13.3 Community Ecology ...................................................................................................... 3-94 3.13.4 Mitigation Measures ...................................................................................................... 3-95 4.0 Environmental Consequences....................................................................... 4-1 4.1 Introduction ................................................................................................................................... 4-1 4.1.1 Direct versus Indirect Impacts.............................................................................................. 4-1 4.1.2 Short-term versus Long-term Impacts.................................................................................. 4-1 4.1.3 Cumulative Impacts ............................................................................................................. 4-1 4.1.4 Intensity of Impacts .............................................................................................................. 4-2 4.1.5 Significance .......................................................................................................................... 4-2 4.1.6 Rationale for Alternative Analysis ....................................................................................... 4-3 4.2 LAND USE AND LAND COVER............................................................................................... 4-4 4.2.1 No Action Alternative .......................................................................................................... 4-4 4.2.2 Maximum Boat Slip Alternative .......................................................................................... 4-4 4.2.3 Minimum Boat Slip Alternative ........................................................................................... 4-5 4.3 WATER RESOURCES AND WATER QUALITY ..................................................................... 4-6 4.3.1 Watershed Characterization ................................................................................................. 4-6 4.3.2 Hydrogeology/Groundwater................................................................................................. 4-6 4.3.3 Water Quality ....................................................................................................................... 4-7 4.4 INFRASTRUCTURE ................................................................................................................... 4-9 4.4.1 Traffic and Transportation ................................................................................................... 4-9 4.4.2 Utilities ............................................................................................................................... 4-13 4.5 SOCIEOECONOMICS............................................................................................................... 4-20 4.5.1 No Action Alternative ........................................................................................................ 4-20 4.5.2 Maximum Boat Slip Alternative ........................................................................................ 4-20 4.5.3 Minimum Boat Slip Alternative ......................................................................................... 4-24 4.6 RECREATIONAL RESOURCES .............................................................................................. 4-24 4.6.1 No Action Alternative ........................................................................................................ 4-24 Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 iii Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 4.6.2 Maximum Boat Slip Alternative ........................................................................................ 4-25 4.6.3 Minimum Boat Slip Alternative ......................................................................................... 4-27 4.7 GEOLOGY AND SOILS ........................................................................................................... 4-27 4.7.1 No Action Alternative ........................................................................................................ 4-27 4.7.2 Maximum Boat Slip Alternative ........................................................................................ 4-27 4.7.3 Minimum Boat Slip Alternative ......................................................................................... 4-28 4.8 ECOLOGICAL SYSTEMS ........................................................................................................ 4-28 4.8.1 No Action Alternative ........................................................................................................ 4-28 4.8.2 Maximum Boat Slip Alternative ........................................................................................ 4-28 4.8.3 Minimum Boat Slip Alternative ......................................................................................... 4-29 4.9 CULTURAL RESOURCES ....................................................................................................... 4-29 4.9.1 No action alternative .......................................................................................................... 4-29 4.9.2 Maximum Boat Slip Alternative ........................................................................................ 4-30 4.9.3 Minimum Boat Slip Alternative ......................................................................................... 4-31 4.10 AIR QUALITY ...................................................................................................................... 4-31 4.10.1 No Action Alternative .................................................................................................... 4-31 4.10.2 Maximum Boat Slip Alternative .................................................................................... 4-31 4.10.3 Minimum Boat Slip Alternative..................................................................................... 4-34 4.11 HAZARDOUS AND TOXIC SUBSTANCES AND POLLUTION ..................................... 4-35 4.11.1 No Action Alternative .................................................................................................... 4-35 4.11.2 Maximum Boat Slip Alternative .................................................................................... 4-35 4.11.3 Minimum Boat Slip Alternative..................................................................................... 4-36 4.12 NOISE .................................................................................................................................... 4-36 4.12.1 No Action Alternative .................................................................................................... 4-36 4.12.2 Maximum Boat Slip Alternative .................................................................................... 4-36 4.12.3 Minimum Boat Slip Alternative..................................................................................... 4-40 4.13 LIGHT POLLUTION ............................................................................................................. 4-42 4.13.1 No Action Alternative .................................................................................................... 4-42 4.13.2 Maximum Boat Slip Alternative .................................................................................... 4-42 4.13.3 Minimum Boat Slip Alternative..................................................................................... 4-42 4.14 CUMULATIVE IMPACTS ................................................................................................... 4-43 4.14.1 Socioeconomic Impacts of Development ...................................................................... 4-43 4.14.2 Environmental Impacts of Development ....................................................................... 4-44 4.14.3 Unavoidable Adverse Impacts ....................................................................................... 4-45 5.0 List of Reviewers and Preparers ................................................................... 5-1 6.0 References..................................................................................................... 6-1 7.0 Persons Consulted......................................................................................... 7-1 8.0 Distribution List ............................................................................................ 8-1 Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 iv Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 49 50 Tables Table 1. Newspapers that Received the Press Release .............................................................................. 1-7 Table 2. Radio and Television Stations that Received the Press Release .................................................. 1-7 Table 3. Newspapers that Advertised Public Notices ................................................................................ 1-7 Table 4. Issues and Sub-issues Identified During the Scoping Process ..................................................... 1-8 Table 5. Public Libraries Provided Copies of the Draft EIS .................................................................... 1-12 Table 6. Summary of Original Proposed Developments ......................................................................... 2-42 Table 7. Summary of Alternatives Selected for Detailed Analysis ......................................................... 2-44 Table 8. Gulf Shores and Orange Beach Land Use Types ......................................................................... 3-4 Table 9. General Aviation Forecasts Summary of Jack Edwards Airport 2005-2025 ............................... 3-8 Table 10. Foley Land Cut Hydrologic Unit Codes .................................................................................... 3-9 Table 11. Average annual loads for 5-day BOD, total nitrogen, total phosphorus, and fecal coliform based on model results from 2001-2005 .................................................................................. 3-12 Table 12. Water Pollution Control Plant Discharges ............................................................................... 3-13 Table 13. ADEM trend monitoring stations............................................................................................. 3-14 Table 14. Average Daily Traffic Volumes............................................................................................... 3-23 Table 15. Potable Water Utilities ............................................................................................................. 3-27 Table 16. Summary of City of Gulf Shores Water System Capacity....................................................... 3-29 Table 17. Wastewater Utilities ................................................................................................................. 3-31 Table 18. Historical Population Levels and Rates of Change, 1970-2000 ROI and Comparison Areas . 3-39 Table 19. Population Levels, 2001-2005 ROI and Comparison Areas .................................................... 3-40 Table 20. Historical Employment Levels and Rates of Change, 1970-2000 ........................................... 3-41 Table 21. Employment Levels, 2001-2005 and Comparison Areas ........................................................ 3-42 Table 22. Total Full-time and Part-time Historical Employment by Industry (1970 & 1980) ................ 3-43 Table 23. Total Full-time and Part-time Historical Employment by Industry (1990 & 2000) ................ 3-44 Table 24. Labor force and unemployment rates....................................................................................... 3-45 Table 25. Largest Employers in Baldwin County .................................................................................... 3-45 Table 26. Historical Income Levels for Baldwin County and Alabama .................................................. 3-46 Table 27. 1989 Income Levels by Tract .................................................................................................. 3-47 Table 28. 1999 Income Levels by Tract .................................................................................................. 3-47 Table 29. 1990 Housing Stock ................................................................................................................. 3-49 Table 30. 2000 Housing Stock, ROI and Comparison Areas .................................................................. 3-49 Table 31. Baldwin County Housing Stock............................................................................................... 3-49 Table 32. Building Permits – Total Value of Construction ..................................................................... 3-50 Table 33. Historical School District Enrollment ...................................................................................... 3-51 Table 34. List of Schools in Baldwin County School District ................................................................. 3-51 Table 35. Gulf Shores and Orange Beach Historic School Enrollment ................................................... 3-53 Table 36. Gulf Shores and Orange Beach Actual and Projected Student Enrollment ............................. 3-53 Table 37. 2006 Police Resources in Baldwin County .............................................................................. 3-54 Table 38. 2007 Fire Protection Resources ............................................................................................... 3-54 Table 39. 2006 Violent and Property Crimes in Baldwin County, Adjusted to Population .................... 3-55 Table 40. Hospitals Serving Gulf Shores and Orange Beach .................................................................. 3-56 Table 41. 2000 Race, Ethnicity, and Poverty Status ................................................................................ 3-57 Table 42. Number of vessels observed during the 6 survey days ............................................................ 3-58 Table 43. Time of vessel observations by vessel designation and time period ........................................ 3-59 Table 44. List of Wildlife Species ........................................................................................................... 3-69 Table 45. List of EFH Species ................................................................................................................. 3-75 Table 46. Cultural resource status of the 16 proposed developments ...................................................... 3-83 Table 47. The National Ambient Air Quality Standards and local ambient air quality ........................... 3-86 Table 48. Government environmental databases available for Orange Beach and Gulf Shores.............. 3-87 Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 v Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 Tables (continued) Table 49. Common sounds and their level ............................................................................................... 3-89 Table 50. Perception of changes in noise levels ...................................................................................... 3-90 Table 51. Orange Beach maximum permissible sound levels (dBA) by receiving land use ................... 3-92 Table 52. Principles of Cumulative Impacts Analysis ............................................................................... 4-2 Table 53. Existing and Future Average Daily Traffic.............................................................................. 4-10 Table 54. Summary of Transportation System Impacts ........................................................................... 4-11 Table 55. Summary of Gulf Shores Water System Impacts .................................................................... 4-14 Table 56. Summary of Wastewater System Impacts ............................................................................... 4-16 Table 57. Summary of Solid Waste Collection and Disposal Impacts .................................................... 4-18 Table 58. Calculations of Recommended Capacity with Construction of 16 Proposed Marinas and Implementation of Management Plan ...................................................................................... 4-26 Table 59. Estimated Total Annual Emissions .......................................................................................... 4-32 Table 60. Estimated Automobile and Watercraft Emissions ................................................................... 4-32 Table 61. Estimated Level of Short-term Impact Due to Construction Noise ......................................... 4-38 Table 62. Annual Noise Conditions from Proposed Boating Activity..................................................... 4-39 Table 63. Peak Noise Conditions from Proposed Boating Activity......................................................... 4-40 Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 vi Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 49 Figures Figure 1. General Site Location ................................................................................................................. 1-2 Figure 2. Issues of Concern ....................................................................................................................... 1-9 Figure 3. Proposed Developments ............................................................................................................. 2-2 Figure 4. 47 Canal Place ............................................................................................................................ 2-4 Figure 5. 501 Point West ........................................................................................................................... 2-6 Figure 6. Bayside Harbour ......................................................................................................................... 2-9 Figure 7. Bon Secour Village East ........................................................................................................... 2-11 Figure 8. Bon Secour Village West ......................................................................................................... 2-13 Figure 9. Delfino Resorts 1 and 2 ............................................................................................................ 2-15 Figure 10. Harbour Lights........................................................................................................................ 2-18 Figure 11. KFPH Properties ..................................................................................................................... 2-20 Figure 12. Lawrenz Eastern Marina ......................................................................................................... 2-22 Figure 13. Lawrenz Western Marina ....................................................................................................... 2-24 Figure 14. Oyster Bay Marina ................................................................................................................. 2-26 Figure 15. Summerdance ......................................................................................................................... 2-28 Figure 16. Summerdance West ................................................................................................................ 2-30 Figure 17. Summerdance Central............................................................................................................. 2-32 Figure 18. Summerdance East ................................................................................................................. 2-34 Figure 19. Walker Creek/Portage Crossing ............................................................................................. 2-36 Figure 20. Waterways East ...................................................................................................................... 2-38 Figure 21. Proposed Developments and Mooring Locations ................................................................... 2-46 Figure 22. Land Use and Land Cover ........................................................................................................ 3-3 Figure 23. Watershed Topography from Wolf Bay to Bon Secour Bay .................................................... 3-9 Figure 24. Land use activities from Wolf Bay to Bon Secour Bay along the FLC.................................. 3-11 Figure 25. Subbasins delineated for watershed modeling ........................................................................ 3-12 Figure 26. Mobile Bay Ferry Route ......................................................................................................... 3-19 Figure 27. Holiday cruise ship parked at the Mobile Alabama Cruise Terminal..................................... 3-20 Figure 28. 2001 Average Daily Traffic Volumes .................................................................................... 3-22 Figure 29. Hurricane Evacuation Routes ................................................................................................. 3-26 Figure 30. Gulf Shores Utilities water service area ................................................................................. 3-29 Figure 31. Orange Beach Water Authority Service Area ........................................................................ 3-30 Figure 32. Baldwin County Landfill Locations ....................................................................................... 3-36 Figure 33. Comparison of population growth rates by decade and area .................................................. 3-40 Figure 34. Comparison of employment growth rates by decade and area ............................................... 3-41 Figure 35. Baldwin County employment by sector, 2000 ....................................................................... 3-42 Figure 36. Census Tracts in Southern Baldwin County, 2000 ................................................................. 3-48 Figure 37. Private and public boating access near the FLC ..................................................................... 3-59 Figure 38. Soil Types ............................................................................................................................... 3-65 Figure 39. Wetlands ................................................................................................................................. 3-78 Figure 40. 2005 Jack Edwards Airport noise contours ............................................................................ 3-91 Figure 41. 2015 Jack Edwards Airport noise contours ............................................................................ 3-93 Figure 42. 2030 Projected Average Daily Traffic ...................................................................................... 4-9 Figure 43. Maximum Noise Levels vs. Distance for Construction Related Activities ............................ 4-37 Figure 44. Maximum Boat Slip Alternative - Hourly Sound Levels from Boating Activity on a Peak Summer Day ........................................................................................................................... 4-40 Figure 45. Minimum Boat Slip Alternative - Hourly Sound Levels from Boating Activity on a Peak Summer Day ........................................................................................................................... 4-41 Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 vii Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 Appendices Appendix A Appendix B Appendix C Appendix D Appendix E Appendix F Appendix G Appendix H Appendix I Appendix J Appendix K Appendix L Appendix M Appendix N Appendix O Appendix P Appendix Q Appendix R Appendix S Appendix T Appendix U Appendix V Appendix W Public Involvement Plan Notice of Intent 47 Canal Place Permit Application 501 Point West Permit Application Bayside Harbour Permit Application Bon Secour Village East Permit Application Bon Secour Village West Permit Application Delfino Resort Phase 1 Permit Application Delfino Resort Phase 2 Permit Application Harbour Lights Permit Application KFPH Properties Permit Application Lawrenz East Permit Application Lawrenz West Permit Application Oyster Bay Permit Application Summerdance Permit Application Walker Creek/Portage Crossing Permit Application Waterways East Permit Application Waterway Capacity Study Watershed Modeling Methodology and Assumptions Baldwin County Hurricane Evacuation Plan National Ambient Air Quality Standards InfoMap Database Report List of Acronyms and Abbreviations Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 viii Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 This page intentionally left blank. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 Draft Environmental Impact Statement 1 1.0 PURPOSE, NEED, AND SCOPE 2 1.1 INTRODUCTION 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 The U.S. Army Corps of Engineers (USACE) has prepared this environmental impact statement (EIS) to evaluate the potential environmental and socioeconomic consequences of granting permits for developing 17 marinas along the Foley Land Cut (FLC) portion of the Gulf Intracoastal Waterway (GIWW) in southern Baldwin County, Alabama. This EIS has been undertaken in accordance with the National Environmental Policy Act (NEPA) of 1969,1 Council on Environmental Quality (CEQ) regulations,2 and USACE regulations for implementing NEPA.3 As shown in Figure 1, the FLC is a federally authorized and maintained commercial shipping channel that extends from Wolf Bay in the east to Oyster Bay in the west. The authorization for the construction of this part of the GIWW was enacted in the Rivers and Harbors Act of July 3, 1930, as part of the Pensacola Bay to Mobile Bay segment of the GIWW. Easements for constructing the channel (–9-foot mean lower low water (MLLW) by 100-foot-wide at that time) were acquired in the 1932 time frame, and the FLC portion of the Pensacola Bay to Mobile Bay GIWW segment was completed in 1934. The Pensacola Bay to Mobile Bay segment was constructed at a cost of $443,000, which was less than the $600,000 appropriated for the work. Currently, the authorized channel is –12-foot MLLW and 125-foot-wide. Operation and maintenance funding for the FLC is based on the commercial tonnage that is annually transported on the waterway. The FLC is approximately 10 miles long with the USACE holding easements fronting the majority of the FLC and maintaining disposal areas for federal channel maintenance dredging. The property fronting the FLC historically has been developed for light industrial use to support commercial waterway users. However, the western end of the FLC near Oyster Bay supports singlefamily residences on the southern shore, and in the 1970s the Sailboat Bay condominium/marina complex (100 wet slips) was constructed on the north shoreline. Between 1998 and 2002, approximately 150 openwater slips were permitted for condominium/marina development; between 2002 and December 2004 approximately 360 open-water slips were authorized for both commercial marinas and marinas associated with condominiums. To date, the USACE has received applications for approximately 3,500 additional boat berthing areas (both open-water slips and dry berths) proposed for construction fronting the FLC along the northern shoreline and along the southern shoreline of Oyster Bay. The majority of the FLC is within the city limits of Gulf Shores and has been designated as the ICWIntracoastal Waterway District and Intracoastal Waterway District – East (Gulf Shores Ordinance No. 1276 dated 24 January 2005). This ordinance was added to the city’s existing Use Regulations for Business and Industrial Districts “to create a unified and continuous development district [that] emphasized a maritime theme and takes advantage of the natural beauty of the Intracoastal Waterway and its potential appeal as a premier living and tourist destination.” The city of Gulf Shores through this ordinance encourages urban-scale waterfront development, high-quality mixed-use developments that include residential, commercial, marina, and tourist uses. The area west of the State Road (S.R.) 59 bridge is zoned Residential Planned Community. The eastern end of the FLC, specifically the area east of the 1 National Environmental Policy Act of 1969, Pub. L. 91–190, 42 United States Code [U.S.C.] 4321–4347, January 1, 1970. Council on Environmental Quality Regulations for Implementing the Procedural Provisions of the National Environmental Policy Act (Title 40 of the Code of Federal Regulations (CFR) Parts 1500–1508). 3 Procedures for Implementing NEPA, 33 CFR Part 230; Processing of Department of the Army Permits, 33 CFR Part 325. 2 Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 1-1 Draft Environmental Impact Statement 1 2 Figure 1. General Site Location Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 1-2 Draft Environmental Impact Statement 1 2 Foley Beach Expressway, is in the city limits of Orange Beach and is zoned as Planned Unit Development. 3 1.2 PURPOSE OF AND NEED FOR THE PROPOSED ACTION 4 5 6 7 8 9 10 The purpose of the proposed action is to provide private marinas for condominium residents’ and tourists’ watercraft. The marina facilities would complement on-site mixed-use resort communities and would have direct access, via the FLC, to federally or state maintained waterbodies in Gulf Shores and Orange Beach, Baldwin County, Alabama. The proposed action is needed to meet market demand of residential property owners along the FLC for wet and dry storage of watercraft and for convenient and safe waterway access for recreational pursuits, such as boating and fishing. The applicants provided the site selection rationale for marinas along the FLC that is summarized below. 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 1.2.1 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 Market Demand Applicants of the proposed upland developments and marinas identified the market demand for resort locations to serve the needs and desires of second-home buyers and vacationers looking for affordable coastal communities. The applicants evaluated many motivational factors associated with this targeted customer group, including the statistic that the number one amenity requested by the group is waterfront location and access (Urban Land Institute 2007). The 2004 and 2005 hurricane seasons resulted in a shift in consumer demand to be near the ocean, but not necessarily on the ocean, to avoid the stress associated with renovating and rebuilding after hurricanes. Insurance rates have increased for oceanfront and gulffront residences creating a migration off of the ocean/gulf to the protected waters of backbays and sheltered waterbodies (i.e., GIWW). On the basis of this research, the applicants identified the Gulf Shores/Orange Beach region as being available to meet the resort community demand. The economy in this area is reliant on water-based tourism activities (i.e., boating and fishing) and has the existing infrastructure to support new developments. 1.2.2 Gulf Shores/Orange Beach Site Selection The applicants selected the Gulf Shores/Orange Beach region on the basis of market demand research and location. This area is within an 8-hour drive of many major cities in the southeast United States, including Nashville, Memphis, Birmingham, New Orleans, and Atlanta. The Alabama gulf coast has an established brand as a vacation destination, and the local governments have provided the infrastructure necessary to accommodate the anticipated increase in visitors. The region also has an economic and employment base necessary to construct and operate the resort communities. By developing along the FLC, the marinas will provide fishing and recreational boating opportunities via Bon Secour Bay, Wolf Bay, Mobile Bay, Perdido Bay, and the Gulf of Mexico. Having marinas directly connected to these waterbodies is critical to developing the resort communities. These marinas will provide facilities for watercraft during tropical storm events and minimize the evacuation boat traffic on the GIWW prior to a tropical storm event. The waterfront developments also provide an aesthetic view of the FLC, Oyster Bay, and Wolf Bay. 41 1.3 SCOPE 42 43 44 45 This document was developed in accordance with NEPA, implementing regulations issued by the President’s CEQ, and federal regulations for implementing NEPA for federal actions involving navigable waters under the jurisdiction of the USACE as presented at 33 CFR Parts 230 and 325. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 1-3 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 This EIS will provide the District Engineer, USACE, Mobile District, with information regarding socioeconomic and environmental impacts to consider as part of the public interest review of the applications in accordance with USACE regulations. This EIS also will provide information to other regulatory and commenting agencies and the general public about the likely environmental consequences of the proposed action and alternatives. The NEPA process ensures that the public has an opportunity to raise issues and concerns to the District Engineer before decisions are made on the permit applications. An interdisciplinary team of environmental scientists, aquatic and terrestrial biologists, toxicologists, ecologists, geologists, planners, economists, engineers, and cultural resource specialists have analyzed the proposed action and other alternatives in light of existing conditions. The team has identified relevant beneficial and adverse impacts associated with the action. This document analyzes both the direct impacts (those caused by the action and occurring at the same time and place) and the indirect impacts (those caused by the action and occurring later in time or farther removed in distance but still reasonably foreseeable) and the impacts from secondary actions (reasonably foreseeable actions taken by others). The potential for cumulative impacts are also addressed, and mitigation measures are identified where appropriate. Section 2.0 describes the proposed action and No Action Alternative in detail. Section 3.0 describes existing environmental conditions that could be affected by the proposed action, and Section 4.0 identifies potential socioeconomic and environmental impacts that could occur by implementing the proposed action. Several federal and state agencies have joined the USACE in preparing this EIS. The USACE is the lead agency, and the other agencies are participating in cooperating agency roles. These other agencies bring to the NEPA process information and experience in resource-specific areas, as well as an interest in identifying and analyzing the relevant issues. The following have accepted cooperating agency status for preparing the draft EIS: U.S. Environmental Protection Agency (EPA), U.S. Department of the Interior— Fish and Wildlife Service (USFWS), U.S. Department of Commerce—National Marine Fisheries Service (NMFS), U.S. Coast Guard (USCG), U.S. Department of Transportation, Federal Highway Administration (FHWA), Alabama Department of Environmental Management (ADEM), Alabama Emergency Management Agency (AEMA), Alabama Department of Conservation and Natural Resources (ALDCNR), Alabama Department of Transportation (ADOT), Alabama State Historic Preservation Officer (SHPO), city of Gulf Shores, and city of Orange Beach. Pursuant to section 10 of the Rivers and Harbors Act of 1899 and section 404 of the Clean Water Act (CWA) of 1972, the USACE, through its Mobile District Office, issue permits for all areas in the study area. The human and natural environments consist of a variety of components. Specifically, the USACE has identified the following issues and components of the human and natural environments for analysis in the EIS: hydrologic and hydraulic regimes, threatened and endangered species (TES), essential fish habitat (EFH) and other marine habitat, wetlands, air quality, noise, light (impacts on nesting sea turtles and their hatchlings), cultural resources, safety, wastewater treatment capacities and discharges, erosion control, channel sustainability, potential of added operations and maintenance costs, drainage discharges, transportation systems, alternatives, secondary and cumulative impacts, impact to authorized use of commercial navigation, navigation safety, socioeconomic impacts, waterway capacity, hurricane evacuation, environmental justice (impact on minorities and low income groups) (Executive Order [EO] 12898), and protection of children (EO 13045). Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 1-4 Draft Environmental Impact Statement 1 1.4 PUBLIC INVOLVEMENT 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 1.4.1 30 31 32 33 34 35 36 37 38 39 40 41 1.4.2 NEPA Public Involvement Process Under regulations issued by the CEQ4, the evaluation of potential environmental impacts of federal actions is open to the public. Public participation in the NEPA process promotes open communication between the public and the USACE and better decision making. All persons and organizations that have a potential interest in the proposed action, including minority, low-income, disadvantaged, and Native American groups, are urged to participate in the NEPA environmental analysis process. Public participation opportunities regarding the proposed action are guided by CEQ regulations and USACE regulation.5 These regulations provide for five major aspects of public participation available in conjunction with preparing this EIS: (1) Notice of Intent, (2) scoping, (3) 45-day public review of the draft EIS, (4) public meeting on the draft EIS, and (5) 30-day public review of the final EIS. Each of these steps in the process provides for public involvement and is briefly discussed below. Throughout this process, the public could obtain information on the EIS through Dr. Susan Ivester Rees, Coastal Environmental Team, Mobile District, phone (251) 694-4141 or Mr. Michael B. Moxey, Regulatory Division, Mobile District, phone (251) 694-3771. A Public Involvement Plan (PIP) was prepared as part of the EIS process (Appendix A). This PIP describes the framework for broadly distributing and providing public access to information regarding the development of the EIS; promoting an understanding of the NEPA process, studies, and analyses; and providing a number of opportunities for the public to provide input. The specific goals of the PIP are to increase public awareness of the NEPA process, to educate the public on the issues associated with the permitting activities and development along the FLC portion of the GIWW in Baldwin County, Alabama, and to encourage the public to become involved in the EIS process by attending public meetings, where they can articulate their concerns. This PIP also identifies and explains the objective of each of the tasks that will help to ensure that the public understands the EIS process. Implementing these tasks will help strengthen the EIS by providing methods to identify areas of public concern and gathering historical information. Notice of Intent The Notice of Intent (NOI) (Appendix B), informing the public that an EIS will be prepared, is the first formal step in the NEPA public involvement process. The notice is published in the Federal Register before the start of the scoping process by the agency proposing the action. The NOI includes a description of the proposed action and gives the name and address of an agency contact person. The NOI declaring the USACE’s intent to prepare an EIS was published in the Federal Register on May 26, 2006.6 In the NOI, the USACE identified the study area and region of influence (ROI) as the FLC portion of the GIWW in Baldwin County, Alabama. The FLC extends from Wolf Bay in the east to Oyster Bay in the west. The notice stated that the EIS will address the potential impacts associated with mixed-use development along the FLC. The USACE will use the EIS in making permitting decisions under section 404 of the CWA, section 10 of the Rivers and Harbors Act, and NEPA. 4 Council on Environmental Quality Regulations for Implementing the Procedural Provisions of the National Environmental Policy Act, 40 CFR Parts 1500–1508. 5 NEPA Implementation Procedures for the Regulatory Program, 33 CFR Part 325, Appendix B. 6 Federal Register, Vol. 71, No. 102, Friday, May 26, 2006, page 30393. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 1-5 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 1.4.3 Scoping Process The purpose of scoping is to solicit public comment on issues or concerns that should be addressed in the EIS. It is designed to involve the public early in the EIS process. Public comments were solicited through mailings, media advertisements, and both agency and public scoping meetings. While informal comments are welcome at any time throughout the process, the scoping period and the scoping meeting provide formal opportunities for public participation in, and comment on, the environmental impact analysis process. Five categories of interested parties affected by the proposed action have been solicited for their opinions: (1) FLC-area residents, (2) business owners and operators; (3) recreational waterway users; (4) environmental organizations and other similar groups; and (5) federal, state, and local agencies. A description of each category follows: Category 1: FLC-area residents • Adjacent northern and southern shoreline residents • City of Gulf Shores residents • City of Orange Beach residents Category 2: Business owners and operators • Commercial waterway operators • Marinas • Developers • Restaurants • Gas stations and convenience stores • Businesses authorized to conduct commercial operations along FLC portion of GIWW Category 3: Recreational GIWW users • Nonadjacent residents • Other recreational users that participate in activities along the GIWW Category 4: Environmental organizations • Audubon Society • Ducks Unlimited • Sierra Club • Wolf Bay Watershed Watch, Inc. • Others Category 5: Federal, state, and local agencies • Alabama Department of Conservation and Natural Resources • Alabama Department of Transportation • Alabama Department of Environmental Management • Alabama Emergency Management Agency • Alabama Port Authority, Harbormaster • Alabama State Historic Preservation Office • Baldwin County • Cities of Gulf Shores and Orange Beach • National Marine Fisheries Service • U.S. Coast Guard • U.S. Environmental Protection Agency • U.S. Fish and Wildlife Service Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 1-6 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 A press release summarizing the proposed actions and date, time, and location of the August 22, 2006 public scoping meeting was sent to several newspapers (Table 1), radio and television stations in the region (Table 2), and the Alabama Gulf Coast Convention and Visitors Bureau. The Alabama Gulf Coast Convention and Visitors Bureau distributed an announcement in its August 2006 monthly newsletter regarding the public scoping meeting to business owners and operators in the southern Baldwin County, Alabama area. In addition, advertisements were published in several newspapers in the region (see Table 3). The advertisements included information on the proposed action, as well as the date and location of the public scoping meeting. Table 1. Newspapers that Received the Press Release Publication The Gulf Shores Islander The Mullet Wrapper Mobile/Baldwin Register Location Gulf Shores, Alabama Pensacola, Florida Foley, Alabama 11 12 13 Table 2. Radio and Television Stations that Received the Press Release Name Sunny 105.7 (Radio) WEAR TV 3 WKRG TV 5 WALA TV 10 WPMI TV 15 Location Gulf Shores, Alabama Pensacola, Florida Mobile, Alabama Mobile, Alabama Mobile, Alabama 14 15 16 Table 3. Newspapers that Advertised Public Notices Date of Publication 8/1/06 8/2/06 8/2/06 8/8/06 8/9/06 8/16/06 17 18 19 20 21 22 23 24 25 26 27 28 Publication Mobile/Baldwin Register The Gulf Shores Islander The Mullet Wrapper Mobile/Baldwin Register The Gulf Shores Islander The Mullet Wrapper Location Foley, Alabama Gulf Shores, Alabama Pensacola, Florida Foley, Alabama Gulf Shores, Alabama Pensacola, Florida The USACE held an open-house style public scoping meeting on August 22, 2006, at the Gulf Shores Adult Activity Center at 260 Clubhouse Drive, Gulf Shores, Alabama. Twenty-four information stations with displays, maps, and a PowerPoint presentation were available for viewing. Ten stations presented information on the proposed action, the NEPA and EIS process, biological and natural resources, water quality, socioeconomic impacts, environmental impact analyses, waterway capacity, and hurricane evacuation. Environmental contractors staffed the stations. In addition, representatives of each development staffed and displayed 14 stations representing the proposed developments planned for the FLC. A welcome and instruction, a court reporter, and media stations were available to provide information and accept oral and written comments. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 1-7 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 More than 70 members of the public attended the public scoping meeting. Comments concerning the EIS were requested to be submitted by September 6, 2006, addressed to Dr. Susan Rees, U.S. Army Corps of Engineers, Mobile District, 109 St. Joseph Street, Mobile, AL 36602. 12 Table 4. Issues and Sub-issues Identified During the Scoping Process The scoping process resulted in approximately 75 individuals and organizations submitting comments. Each comment was carefully reviewed, grouped into one of seven categories of common issues, and assigned a numeric code. After the initial review, the issues were analyzed further to determine the issues of specific concern. As a result, 16 specific sub-issues were identified during the scoping process. Table 4 lists the issues and sub-issues identified during the scoping process for the EIS. Issues Infrastructure Impacts Socioeconomic Impacts Waterway Capacity Biological and Natural Resources Water Quality Environmental Impacts Hurricane Evacuation 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 Sub-issues Existing roads Utilities Labor force capacity Economic improvement Affordable housing Safety Commercial versus recreational traffic Speed restrictions Habitat loss Expand study area Pollution Debris Noise Dredging Vessel plan Infrastructure The issues of concern identified during the scoping process are provided in Figure 2. Comments of a similar nature were grouped by subject matter into broad categories. Issues of concern related to waterway capacity were commented on most often (58 comments). Issues related to socioeconomic impacts were commented on 54 times; followed by infrastructure impacts (34 comments); biological and natural resources (27 comments); water quality (26 comments); environmental impacts (20 comments); hurricane evacuation (20 comments); and 11 other comments that did not fall into any of the seven common issue categories. The USACE also established a project Web site to make information about the EIS process available to a wide audience. The Web site includes a description of the EIS and NEPA processes, information on public meetings, management activities that will be addressed in the EIS, media information such as press releases, and a scoping meeting brochure, as well as a way to submit comments electronically. Interest items, links to other sites, contacts for media inquiries, and more information about the EIS were available on the Web site. The Web site is housed on Tetra Tech, Inc.’s server at http://www.tetratechffx.com/giwweis/. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 1-8 Draft Environmental Impact Statement 58 Waterway Capacity 54 Socioeconomic Impacts Issue 34 Infrastructure Impacts 27 Biological and Natural Resources 26 Water Quality Environmental Impacts 20 Hurricane Evacuation 20 0 10 20 30 40 50 60 70 Number of Comments 1 2 Figure 2. Issues of Concern 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 1.4.4 Relevant Public Comments Addressed in the EIS As a result of the scoping process, issues relevant to the EIS were verified and defined. Relevant issues raised during scoping are addressed under the following resource areas in the EIS: • Land Use. Land use refers to human use of the land for economic production (residential, commercial, industrial, recreational, or other purposes) and for natural resource protection. Land cover, an increasingly important attribute of land use, describes what is physically on the ground. The proposed developments will place demands on FLC resources and resources associated with waterbodies hydrologically connected to the FLC. The demands placed on FLC resources and surrounding land use could impede the ability of the USACE to sustainably manage the FLC. In the EIS, the USACE will analyze the impacts that existing and future land uses, such as the proposed mixed-use developments, would have on the FLC resources. The EIS will consider existing and proposed development, population growth, recreation resources, zoning regulations, and other issues related to how the land surrounding the FLC is used. The EIS will also analyze the activities the USACE undertakes to maintain the FLC for commercial barge traffic, including USACE upland disposal sites, maintaining a 500-foot easement area, and stormwater management. • Noise. In terms of the EIS, noise impacts would generally be considered an indirect impact resulting from the proposed developments. The EIS will analyze any noise-related impacts resulting from the use of heavy equipment during construction of the proposed developments, increased use of the FLC by recreational boat traffic, and any other noise-generating activities associated with FLC operation and maintenance. The EIS will also consider the cumulative impacts associated with recreational and commercial uses of the FLC. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 1-9 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 49 50 • Water Resources and Water Quality. Water resources include various bodies of water residing or flowing in basins, channels, and other various natural and artificial landforms on the Earth’s surface. This resource area includes analysis of the surface water entering the FLC, the hydrogeology of the canal, groundwater, and the waterbodies hydrologically connected to the FLC. Potential pollutant loads to be analyzed include watershed runoff, point source discharges into the FLC and surrounding waterbodies from the proposed developments and marinas, septic systems within the FLC watershed, and recreational and commercial boating activities in the FLC and surrounding waterbodies. Water quality issues to be analyzed include dissolved oxygen (DO), nutrients, heavy metals, gray water, and other pollutants. In addition, dredging impacts on water resources and water quality are analyzed. • Ecological Communities. NEPA requires that analyses conducted for an EIS consider ecological information. Direct and indirect impacts that result in the loss of native vegetation, populations or species of fish and wildlife, sensitive species, tidal and non-tidal wetland areas, and sensitive habitats must be considered for any action involving disturbance in naturally vegetated areas. The EIS will evaluate any impacts on state or federally listed threatened or endangered species in the FLC vicinity, nonnative plant and animal management, and wetland areas. • Infrastructure Systems, Utilities, and Traffic and Transportation Systems. Analysis of infrastructure, utilities, and transportation systems related to the proposed developments will include potable water treatment and distribution; sewer collection and treatment, including septic systems and on-site wastewater treatment systems; stormwater collection and stormwater discharge; electricity; natural gas; solid waste; telecommunication systems; road networks; traffic and congestion; parking facilities; and road improvement and road maintenance. • Socioeconomic Resources. Socioeconomics comprises the social, economic, and demographic characteristics of a region. The socioeconomic analysis includes an evaluation of labor force capacity, availability of affordable housing, public services, educational facilities, impacts on regional transportation, and fiscal revenues. The EIS will provide historical data (including population, employment, income, and gross regional product) to describe the regional growth of the area in the vicinity of the FLC. The historical data provides a frame of reference for determining the significance of any impacts on the socioeconomic environment expected as a result of the proposed developments. An economic model will be used to generate a forecast that simulates the expected long-term growth of the project area on the basis of past and current trends and conditions. Environmental justice and protection of children are addressed, in accordance with EOs 12898 and 13045. • Waterway Capacity. The EIS evaluates waterway capacity of the FLC and focuses on the present level of use of recreational watercraft, the future level of use that could be expected with the proposed developments, and the level of commercial marine traffic. A waterway capacity study (WCS) has been prepared to evaluate compatible uses and potential conflicts between private and commercial use of the FLC. The study focused on safety, environmental, social, economic, recreation, and aesthetic issues. The study provided a well-documented basis for identifying the maximum number of boat slips that could be permitted on the FLC without impeding or adversely affecting commercial navigation. The study also included a focus on the navigational safety of cargo vessels, especially fuel-carrying tows. The EIS and study also evaluated impacts on current and future structures along the FLC, which include, but are not limited to, mooring and fueling docks, access channels, and bridge substructures. The study recommended the maximum number of watercraft berthing areas (open-water and dry-stack storage) to be allowed in current and future developments along the FLC. This analysis took into account both privately-owned Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 1-10 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 watercraft used for recreation in the area and watercraft used for transit from locations outside the study area. The study evaluated management options to include items such as mandatory exclusion zones around commercial vessels, a dedicated marine police presence, flow-through breakwaters, and safe-access channels into permitted facilities along the waterway. The study results offer a range of management measures to implement the recommendations developed from the study and to mitigate for the impacts of recreational watercraft that exceed the recommended capacity. The study was conducted concurrently with the EIS and developed information to be incorporated into the EIS and to be used in evaluating the impacts on commercial navigation and the environment of the proposed action and considered alternatives as appropriate. • 1.4.5 Hurricane Evacuation. A hurricane evacuation study was completed to evaluate the impacts of the proposed developments on the ability for residents and visitors to evacuate the region safely and quickly. The study includes an evaluation of existing infrastructure (evacuation routes and hurricane shelters) and a vessel plan that describes how watercraft will be secured during a tropical storm event. Additional Resource Areas to be Addressed in the EIS In addition to the resource areas on which the public commented during the scoping process, the following resource areas or issues are addressed: • Soils and Geology. This resource considers the environmental aspects of stratigraphy, topography, soils, and sediments; engineering properties of the materials; seismic hazards; slope stability; earthworks; mineral resources; unique landforms; and geological conditions that could limit the proposed developments, influence contaminant distribution and migration, or influence groundwater resources. The EIS will include an analysis of the impacts of FLC activities on shoreline erosion and the vegetative buffer areas along the FLC. • Hazardous and Toxic Materials. This resource area analyzes hazardous material management and hazardous waste management as it relates to the proposed development activities and the indirect impacts of residential and commercial boat traffic on the FLC. The EIS will consider the impacts of potential hazardous spill areas, such as marinas and boat ramps, and leaking petrochemicals from residential and commercial watercraft. • Cultural Resources. The EIS will identify properties within the project boundary that are on, or eligible for, the National Register of Historic Places or that qualify as Native American traditional cultural properties. The analysis will consider impacts on any identified properties that could result from the construction and operation of the proposed developments, increased recreational and commercial waterway traffic, and USACE operation and maintenance activities. • Air Quality. The EIS will analyze any impacts on air quality associated with the construction, operation, and maintenance of the proposed developments and marinas, as well as emissions from additional boat traffic on the waterway. • Light. The EIS will provide recommendations that would minimize or mitigate unnecessary light on, or adjacent to, the waterway that could create a hazard to mariners by washing-out navigation lights, blinding pilots, and so on. In addition, the EIS will evaluate the impacts on sea turtle nesting and behavior from artificial light created by the proposed developments. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 1-11 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 1.4.6 Public Review of the Draft EIS 11 Table 5. Public Libraries Provided Copies of the Draft EIS The USACE will make a draft EIS available for public review and comment, publish a notice of availability (NOA) of the draft EIS in the Federal Register on February 27, 2009, and send copies of the draft EIS to individuals who requested copies. In addition, the USACE will provide copies of the draft EIS to local libraries in the vicinity of the FLC (Table 5). Agencies, organizations, and individuals will be invited to review and comment on the document. The draft EIS will be available for a period of 45 days for comments on the proposed action, the alternatives, and the adequacy of the analysis. During the 45day comment period, the USACE will hold a public meeting to receive comments on the draft EIS. The USACE will advertise the time and place of the meeting in local newspapers. Thomas B. Norton Public Library 221 W. 19th Avenue Gulf Shores, AL 36542 (251) 968-1176 Orange Beach Public Library 26267 Canal Rd Orange Beach, AL 36561 (251) 981-2923 Fairhope Public Library 161 N. Section Street Fairhope, AL 36532 (251) 928-7483 Daphne Public Library 2607 US Hwy 98 Daphne, AL 36526 (251) 621-2818 Foley Public Library 319 E. Laurel Street Foley, AL 36535 (251) 943-7665 12 13 14 15 16 17 18 1.4.7 Final EIS As provided for in CEQ regulations, the USACE will consider all comments provided by the public and agencies on the draft EIS. The final EIS will incorporate changes suggested by the comments on the draft EIS, as appropriate, and will contain responses to all comments received during the review period. The USACE will mail copies of the final EIS to various federal, state, and local agencies, and will place copies in local libraries. 1.4.8 Record of Decision 19 20 21 22 23 Thirty days following publication of the final EIS, the USACE will prepare a Record of Decision (ROD) that will provide an overview of the range of alternatives considered for the proposed action, identify the decisions made, and include any required mitigation measures associated with the proposed action. 24 1.5 REGULATORY AUTHORITIES AND PROCESSES 25 26 27 28 29 30 31 32 33 34 35 36 NEPA requires analysis of every major federal action significantly affecting the quality of the human environment. Compliance with NEPA is part of the USACE’s action on each permit application under section 10 of the Rivers and Harbors Act of 1899 or section 404 of the CWA of 1972. The Rivers and Harbors Act protects navigable waters and maintains interstate commerce. Section 10 of the act prohibits the creation of obstructions to navigation in waters of the United States and authorizes the USACE to regulate the construction of structures in, over, or under navigable waters; the excavation of materials from navigable waters; and the deposition of material into navigable waters, including dredging and filling activities. Section 404 of the CWA authorizes the USACE to regulate the discharge of dredged or fill materials in waters of the United States, including wetlands. The USACE and EPA jointly administer section 404 insofar as the USACE acts on permits in accordance with guidelines developed by EPA and USACE for assessing the environmental impacts of proposed projects. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 1-12 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 49 50 51 The USACE issues five types of individual or general permits: • Individual permits o Standard permits. A standard permit is a permit processed through the public interest review procedures (see below), including public notice and receipt of comments. The standard individual permit is contained in Engineering Form 1721. o • Letters of permission. A letter of permission identifies the permittee, the authorized work and its location, the statutory authority, limitations on the work, a construction time limit, and a requirement for a report of completed work. A copy of relevant general conditions from Engineering Form 1721 is attached to the letter of permission. General permits o Regional permits. A regional permit is a type of general permit issued after compliance with specified USACE regulations published at 33 CFR Part 325. If the public interest so requires, the permit could require a case-by-case reporting and acknowledgment system. No other separate applications or authorization documents are required. o Nationwide permits. Nationwide permits represent Department of the Army authorizations that have been issued at 33 CFR Part 330 for certain specified activities nationwide. If certain conditions are met, the specified activities could take place without the need for an individual or regional permit. o Programmatic permits. A programmatic permit is a type of general permit founded on an existing state, local, or other federal agency program and is designed to avoid duplication with that program. The USACE and participating government agencies are neither a proponent nor an opponent of a permit application. The decision whether to issue a permit will be based on an evaluation of the probable impacts including cumulative impacts of the proposed activity on the public interest. That decision will reflect the national concern for both protection and use of important resources. The benefit that reasonably could be expected to accrue from the proposed action must be balanced against its reasonably foreseeable detriments. All factors that might be relevant to the proposal are considered including the cumulative impacts thereof; among those are conservation, economics, aesthetics, general environmental concerns, wetlands, historic properties, fish and wildlife values, flood hazards, floodplain values, land use, navigation, shoreline erosion and accretion, recreation, water supply and conservation, water quality, energy needs, safety, food and fiber production, mineral needs, considerations of property ownership and, in general, the needs and welfare of the people. For activities involving section 404 discharges, a permit will be denied if the discharge that would be authorized by that permit would not comply with guidelines issued by the EPA under section 404(b)(1) of the CWA. The USACE considers three general criteria in evaluating a permit application: (1) the relative extent of the public and private need for the proposed structure or work; (2) where there are unresolved conflicts as to resource use, the practicality of using reasonable alternative locations and methods to accomplish the objectives of the proposed structure or work; and (3) the extent and permanence of the beneficial or detrimental impacts that the proposed structure or work is likely to have on the public and private uses for which the area is suited. The weight of each of these factors can vary with each proposal. The USACE adds special conditions to permits when such conditions are necessary to satisfy legal requirements or to otherwise satisfy the public interest requirement. Permit conditions are directly related to the impacts of the proposal, appropriate to the scope and degree of those impacts, and reasonably Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 1-13 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 enforceable. If the USACE determines that special conditions are necessary to ensure the proposal will not be contrary to the public interest, but that those conditions would not be reasonably able to be implemented or enforced, the permit is denied. 14 1.6 RELEVANT STATUTES AND EXECUTIVE ORDERS 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 A decision on whether to proceed with the proposed action rests on numerous factors such as schedule, availability of funding, and environmental considerations. In addressing environmental considerations, the USACE is guided by relevant statutes (and their implementing regulations) and EOs that establish standards and provide guidance on environmental and natural resources management and planning. These include the Clean Air Act (CAA), CWA, Noise Control Act, Endangered Species Act (ESA), National Historic Preservation Act, Archaeological Resources Protection Act, Resource Conservation and Recovery Act, and Toxic Substances Control Act. EOs bearing on the proposed action include EO 11988 (Floodplain Management), EO 11990 (Protection of Wetlands), EO 12088 (Federal Compliance with Pollution Control Standards), EO 12580 (Superfund Implementation), EO 12898 (Federal Actions to Address Environmental Justice in Minority Populations and Low-Income Populations), EO 13045 (Protection of Children from Environmental Health Risks and Safety Risks), EO 13101 (Greening the Government Through Waste Prevention, Recycling, and Federal Acquisition), EO 13123 (Greening the Government Through Efficient Energy Management), EO 13148 (Greening the Government Through Leadership in Environmental Management), EO 13175 (Consultation and Coordination with Indian Tribal Governments), and EO 13186 (Responsibilities of Federal Agencies to Protect Migratory Birds). These authorities are addressed in various sections throughout this EIS when relevant to environmental resources and conditions. The full text of the laws, regulations, and EOs is available on the Defense Environmental Network & Information Exchange Web site at http://www.denix.osd.mil. The USACE evaluates applications for permits for activities that might adversely affect the quality of waters of the United States for compliance with applicable effluent limitations and water quality standards during the construction and subsequent operation of the proposed activity. The evaluation includes considering both point and nonpoint sources of pollution. The CWA assigns responsibility for control of nonpoint sources of pollution to the states. Certification of compliance with applicable effluent limitations and water quality standards required under provisions of section 401 of the CWA are considered conclusive with respect to water quality considerations unless EPA’s Regional Administrator advises of other water quality aspects to be considered. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 1-14 Draft Environmental Impact Statement 1 2.0 PROPOSED ACTION AND ALTERNATIVES 2 2.1 STATEMENT OF THE PROPOSED ACTION 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 The permit applications submitted to the USACE propose construction of 15 mixed-use developments along the FLC consisting of the following: 17 marinas, in excess of 16,700 condominium units, 1,722 wet boat slips, 1,742 dry boat storage spaces, various commercial establishments, support facilities, and resort amenities. The projects are in south Baldwin County on 15 parcels of land, of which 14 are along the northern shoreline of the FLC and are generally bounded to the north by Baldwin County Road (C.R.) 4. The other parcel of land proposed for development is on the Oyster Bay southern shoreline, south of the FLC (Figure 3). The portions of the properties fronting the FLC are expected to be used for water-based developments and will include marinas, ship stores, and associated infrastructure. The remaining portions of the properties are expected to accommodate mixed-use development and will include condominium units; amenities such as pools, boardwalks, and restroom facilities; and light commercial outlets. Construction of the proposed projects would impact approximately 711 acres and require excavation of approximately 3,143,195 cubic yards of material from uplands, wetlands, and waterbottoms. Per 33 CFR Section 320.4, General policies for evaluating permit applications, the decision of whether to issue a permit will be based on an evaluation of the probable impacts, including cumulative impacts, of the proposed activity and its intended use on the public interest. Evaluation of the probable impact that the proposed activity could have on the public interest requires a careful weighing of all those factors that become relevant in each case. The benefits that reasonably can be expected to accrue from the proposal must be balanced against its reasonably foreseeable detriments. The decision of whether to authorize a proposed action, and if so, the conditions under which it will be allowed to occur, is determined by the outcome of this general balancing process. That decision should reflect the national concern for both protecting and using important resources. All factors which could be relevant to the proposal must be considered including the cumulative impacts thereof: among those are conservation, economics, aesthetics, general environmental concerns, wetlands, historic properties, fish and wildlife values, flood hazards, floodplain values, land use, navigation, shore erosion and accretion, recreation, water supply and conservation, water quality, energy needs, safety, food and fiber production, mineral needs, considerations of property ownership and, in general, the needs and welfare of the people. For activities involving section 404 discharges, a permit will be denied if the discharge that would be authorized by such permit would not comply with EPA’s 404(b)(1) guidelines. Subject to the preceding sentence and any other applicable guidelines and criteria (see Sections 320.2 and 320.3), a permit will be granted unless the district engineer determines that it would be contrary to the public interest. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-1 Draft Environmental Impact Statement 1 2 Figure 3. Proposed Developments Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-2 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 The FLC was selected as the location for developing resort communities because of the benefits realized over alternative sites (see Section 1.2). Gulf-front property was not considered because the property is expensive ($80,000–$100,000 per square foot), the location is not suitable for marinas, and the tidal surge during a tropical storm event could cause property damage. Property along Little Lagoon, which is south of the FLC, is not adequate because the west beach pass to the Gulf of Mexico is very narrow, making it difficult for watercraft to navigate. Property along other backbays and sheltered waterbodies (i.e., Bon Secour River) is not suitable because the low elevation makes it subject to flooding risks, and more material would need to be dredged to provide suitable ground to construct the marinas. In addition, property along the FLC has been zoned for marinas and resort development, whereas alternative sites would require a change in zoning. The applicants have stated that there are no other practical alternative sites to the FLC location that provide the unique combination of access to the Gulf of Mexico and other waterbodies and the overall economic benefit to the Gulf Shores/Orange Beach area. 16 17 18 19 20 21 2.1.1 The 47 Canal Place development will be a 44-acre site in Orange Beach, Alabama, along the northern shoreline of the FLC, west of the Foley Beach Expressway (Figure 4). Development associated with the project will include a marina, condominiums, and commercial space. A joint application and notification was submitted to the USACE and ADEM on December 16, 2004, and assigned application number AL04-03402-J (Appendix C). 22 2.1.1.1 Project Description 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 2.1.1.1.1 42 43 44 The following sections provide detailed information on each proposed mixed-use development and practicable alternative site analysis for each respective project. 47 Canal Place Original Site Design The proposed development will include approximately 1,275 condominiums, with 905 seasonal units and 370 permanent units. The percent of the project area that will be used for commercial and green space has not been determined. The project will include excavation of approximately 500,000 cubic yards of sandy clay material from uplands to create a marina and two access channels to the FLC. The marina basin and access channels will create approximately 724,900 square feet of water area. The marina will entail excavating a “U”-shaped canal across the site with open ends originating in two existing key hole slips. The marina will provide 270 wet boat slips for vessels up to 50 feet in length. The slips will consist of a floating pier system connected to concrete pilings and would be constructed to a height of +5 to 6 feet above mean low water (MLW). The marina will also provide 308 dry dock boat storage units. The marina and two access channels will be dredged to a bottom depth of -16.0 MLW and will have a sloping gradient toward the FLC. The margins of the basin and entrance channel would be constructed of steel sheet pile bulk heading with a concrete cap, walkways, and a cathodic protection system for the proposed bulk heading. The existing grade, +14 to 15 feet, of the site will be maintained. The nature of the material to be dredged is uplands. All dredge material will be dewatered and contained on adjacent uplands on the project property. One vehicular bridge will connect the condominiums to the interior island of the development. No net loss of wetlands will occur as a result of the proposed development. 2.1.1.1.2 Revised Site Design A revised site design, submitted in March 2007, decreased the number of access channels to the FLC from two to one. The marina basin was redesigned to create approximately 540,700 square feet of water Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-3 Draft Environmental Impact Statement 1 2 Figure 4. 47 Canal Place Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-4 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 area. The access channel will measure 208 feet wide by 500 feet long and would be constructed at an existing key hole slip that has historically been used as an entry point into the FLC. Approximately 425,810 cubic yards of material will be dredged to create the marina and access channel. Approximately 7,720 feet of bulkhead will be installed. The line of sight distance from the access channel to the FLC will be approximately 1,900 feet to the west and 1,400 feet to the east. At the current speed of a barge (6 miles per hour (mph)), a boater exiting the marina will have a reaction time of approximately 3.6 minutes (west) and 2.7 minutes (east) to decide whether to exit the marina or to wait and yield to the barge that has just entered the sight line. 11 12 13 14 15 16 17 18 19 20 2.1.1.2 Site Selection Rationale All other elements of the development will remain as described in the original site design. Water-based activities support tourism in southern Baldwin County, and the 47 Canal Place development would help sustain this industry. The site along the FLC was selected for the development because it will provide facilities for watercraft during tropical storm events and provides access to fishing and recreation activities in the Gulf of Mexico and other waterbodies in the vicinity. The development will be critically associated with marine usage made available via access to the FLC. This site has been previously developed to support commercial marine activities and an existing key hole slip will be used as the entrance channel into the FLC. In addition, the site was chosen because of its proximity to, and view of, Wolf Bay. 2.1.2 501 Point West 21 22 23 24 25 26 The 501 Point West development will be a 49-acre site in Gulf Shores, Alabama, along the northern shoreline of the FLC, northeast of Oyster Bay (Figure 5). Development associated with the project will include a marina, condominiums, and other amenities. A joint application and notification was submitted to the USACE and ADEM on February 23, 2006, and assigned application number SAM-2006-949-MBM (Appendix D). 27 2.1.2.1 Project Description 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 2.1.2.1.1 Original Site Design The proposed development will include approximately 1,137 condominiums, with 797 seasonal units and 340 permanent units, in six buildings. Amenities associated with the condominiums will include swimming pools, a spa, tennis courts, and a yacht club. No retail or commercial space will be constructed as part of the proposed project. Approximately 18.5 acres of green space will be incorporated into the proposed project layout and will include parks and walking paths. The project will include excavation of approximately 72,000 cubic yards of sand and clay material to a depth of -16.0 MLW to create the marina and one access channel to the FLC. The marina basin will be excavated from the shallow water bottoms of Oyster Bay and adjacent marsh wetlands. The marina will be in the southwest corner of the property, extending into Oyster Bay, and consist of a semicircular basin, flow-through breakwater, and access piers and finger piers with tie-off piles to create 82 wet boat slips. An additional 80 dry boat slips will be provided in an onshore dry storage facility. The nature of the area to be dredged for project development will include uplands, wetlands, and waterbottom. All excavated material will be contained in an existing upland dredge material disposal area adjacent to the marina and used as fill for on-shore project development. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-5 Draft Environmental Impact Statement 1 2 Figure 5. 501 Point West Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-6 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 Approximately 100 acres of non-jurisdictional wetlands, within a man-made dredge material disposal cell, and 2.15 acres of jurisdictional wetlands will be filled or dredged for project development. The applicant has proposed to mitigate for unavoidable impacts on jurisdictional wetlands in accordance with a mitigation plan developed during the permit evaluation process. In addition, a 360-foot bridge will span an existing wetland in the northeastern portion of the property to provide access to the development from County Road 4 (C.R. 4). 2.1.2.1.2 Revised Site Design A revised site design was submitted in June 2007 to address original site design wetland impacts. The marina will be relocated from the southwest corner of the property to the center of the property and out of Oyster Bay. This change in the location of the marina reduced the amount of jurisdictional wetland impacts from 2.15 acres to 0.8 acres, and a 9 percent reduction in the surface area impacted by dredging from 5.69 acres to 5.15 acres. As a result, the amount of wet boat slips decreased by 23 percent, from 82 to 63. The amount of dredged material increased from 72,000 cubic yards, in the original site design, to approximately 130,000 cubic yards. Approximately 85,000 cubic yards of dredged material will be below mean high water (MHW), and approximately 45,000 cubic yards will be above MHW. Approximately 300 cubic yards of rip-rap material will also be incorporated in the revised site design. In addition, the entry bridge to the development from C.R. 4 was relocated further east to minimize the distance necessary to cross wetlands along the northern border of the property. Hydrology will be maintained at the site entry road through the use of culverts. Approximately 0.8 acres of jurisdictional wetlands will be filled or dredged for project development. Marina construction will require the dredging of 0.45 acres of jurisdictional wetlands (marsh) and 0.35 acres will be filled for construction of the entrance road. The applicant has proposed to mitigate for unavoidable impacts on jurisdictional wetlands in accordance with the mitigation plan described in Section 2.1.17. Avoided jurisdictional wetlands will be incorporated into the project’s green space. Additional modifications to the marina design include the following: • A flared opening to improve lines of sight • Queuing areas for boats departing and returning to dry storage, on the east side of the marina away from the marina entry/exit The line of sight distance from the access channel to the FLC will be approximately 880 feet to the west and 587 feet to the east. At the current speed of a barge (6 mph), a boater exiting the marina will have a reaction time of approximately 1.6 minutes (west) and 1.1 minutes (east) to decide whether to exit the marina or to wait and yield to the barge that has just entered the sight line. All other elements of the development will remain as described in the original site design. 2.1.2.2 Site Selection Rationale Water-based activities support tourism in southern Baldwin County, and the 501 Point West development would help sustain this industry. The site along the FLC was selected for the development because it will provide facilities for watercraft during tropical storm events and provides access to fishing and recreation activities in the Gulf of Mexico and other waterbodies in the vicinity. The development will be critically associated with marine usage made available via access to the FLC. In addition, the site was chosen because of its views of Oyster Bay, Bon Secour River, and Mobile Bay. The site is away from bends and bridges in the FLC, which offers an increased level of safety over alternative sites on the waterway. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-7 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 2.1.3 Bayside Harbour The Bayside Harbour development will be an 8-acre site in Gulf Shores, Alabama, at the intersection of the northern shoreline of the FLC and eastern shoreline of the Bon Secour River, north of Oyster Bay (Figure 6). Development associated with the project will include a marina, condominiums, and other amenities. A joint application and notification was submitted to the USACE and ADEM on July 29, 2005, and assigned application number AL05-03418-J (Appendix E). 2.1.3.1 Project Description The proposed development will include approximately 116 condominiums, with 81 seasonal units and 35 permanent units, in one residential building. Amenities associated with the condominiums will include a clubhouse and swimming pool. One restaurant will be in the clubhouse. No other retail or commercial space will be constructed as part of the proposed project. Approximately 4.7 acres of the project area will be used as green space. The project will include excavating approximately 38,900 cubic yards of silty sand material to create a marina (216,000 square feet) and two access channels to the FLC. The marina will consist of 116 wet boat slips, ranging from 32 feet to 52 feet in length, for the mooring of private vessels. The material dredged to create the marina will be from the waterbottom of Oyster Bay. All dredge material will be disposed of on adjacent uplands and will be contained within a 4.6-acre earthen berm. There will be two access channels from the marina to the FLC. One channel, on the western edge of the marina, will be approximately 820 feet long by 80 feet wide and will run in a north-south direction. The second channel, on the eastern edge of the marina, will be approximately 380 feet long by 80 feet wide and will run in a north-south direction. The line of sight distance from the access channel to the FLC will be approximately 1,840 feet to the west and 4,900 feet to the east. At the current speed of a barge (6 mph), a boater exiting the marina will have a reaction time of approximately 3.5 minutes (west) and 9.3 minutes (east) to decide whether to exit the marina or to wait and yield to the barge that has just entered the sight line. There will be approximately 900 linear feet of 8-foot-wide, pile-supported boardwalk running north-south along the Oyster Bay shoreline and tidal fringe wetland, and approximately 155 linear feet of 4-foot– wide, pile supported boardwalk running east-west across wetlands. No net loss of wetlands will occur as a result of the proposed development. An oyster reef 2.5 miles northwest of the proposed project in Bon Secour Bay will not be affected by the development. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-8 Draft Environmental Impact Statement 1 2 Figure 6. Bayside Harbour Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-9 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 2.1.3.2 Site Selection Rationale 11 12 13 14 15 16 2.1.4 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 Water-based activities support tourism in southern Baldwin County, and the Bayside Harbour development would help sustain this industry. The site along the FLC was selected for the development because it will provide facilities for watercraft during tropical storm events and provides access to fishing and recreation activities in the Gulf of Mexico and other waterbodies in the vicinity. The development will be critically associated with marine usage made available via access to the FLC. In addition, the site was chosen because of its views of Oyster Bay and Bon Secour River. The site is away from bends and bridges in the FLC, which offers an increased level of safety over alternative sites on the waterway. Bon Secour Village East The Bon Secour Village East Marina development will be a 5-acre site in Gulf Shores, Alabama, along the northern shoreline of the FLC, between State Road 59 (S.R. 59) and Oyster Bay (Figure 7). Development associated with the project will include a marina and dry stack facility. A joint application and notification was submitted to the USACE and ADEM on April 21, 2005, and assigned application number AL05-01741-J (Appendix F). 2.1.4.1 Project Description Residential and commercial space is not planned as part of this project. The proposed marina and dry stack facility will support the Bon Secour Village planned community on the western adjacent property. The marina will have 10 permanent 40-foot boat slips, transient tie-ups, fueling facilities, and two forklift accessible launching ramps. In addition, there will be a 1.6-acre dry-stack facility that will have a 528 boat capacity and will also contain a ship’s store. The marina basin will be constructed by excavating uplands from an average elevation of +14 feet MLW to an average elevation of -16 feet MLW. The access channel (55 feet by 120 feet) will be dredged from the waterbottom of the FLC to match the depth of the marina basin. The marina basin and access channel will create approximately 82,760 square feet of water area. The vertical walls of the marina basin and access channel will be stabilized by approximately 2,165 linear feet of vertical concrete sheet pile. Approximately 65,000 cubic yards of material will be dredged above MHW and 33,000 cubic yards of waterbottom will be dredged below MLW to create the marina basin and access channel to the FLC. All dredge material will be dewatered in a containment berm on uplands on the north side of C.R. 4 on property owned by the applicant. In addition, approximately 185 cubic yards of rip-rap will be placed above MLW and 265 cubic yards will be placed below MLW. The line of sight distance from the access channel to the FLC will be approximately 4,720 feet to the west and 2,010 feet to the east. At the current speed of a barge (6 mph), a boater exiting the marina will have a reaction time of approximately 8.9 minutes (west) and 3.8 minutes (east) to decide whether to exit the marina or to wait and yield to the barge that has just entered the sight line. No net loss of wetlands would occur as a result of the proposed development. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-10 Draft Environmental Impact Statement 1 2 Figure 7. Bon Secour Village East Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-11 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 2.1.4.2 Site Selection Rationale 11 12 13 14 15 16 2.1.5 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 Water-based activities support tourism in southern Baldwin County, and the Bon Secour Village East Marina would help sustain this industry. The site along the FLC was selected for the development because it will provide facilities for watercraft during tropical storm events and provides access to fishing and recreation activities in the Gulf of Mexico and other waterbodies in the vicinity. The development will be critically associated with marine usage made available via access to the FLC. In addition, the site was selected on the basis of its proximity to the Bon Secour Village planned community. The dry-stack storage facility will allow for boats to be kept in storage during tropical storm events, which will minimize the amount of boats that will need to be evacuated from the FLC vicinity. Bon Secour Village West The Bon Secour Village West development will be a 34-acre site in Gulf Shores, Alabama, along the northern shoreline of the FLC, between S.R. 59 and Oyster Bay (Figure 8). Development associated with the project will include a marina, residential and commercial space, and other amenities. A joint application and notification was submitted to the USACE and ADEM on November 23, 2005, and assigned application number AL05-04850-B (Appendix G). 2.1.5.1 Project Description The marina will support the 1,000-acre Bon Secour Village planned community on the eastern adjacent property, which will include approximately 6,000 condominium units, with 3,000 seasonal units and 3,000 permanent units. Also included in the development will be single-family homes, apartments, townhomes, schools, police and fire precincts, and hotels. There will be approximately 500,000 to 750,000 square feet of retail and commercial space in the development, which will include restaurants, medical facilities, and professional office space. Approximately 500 acres of the proposed project footprint will be used as green space, with parks, lakes, and boardwalks. The 5-acre marina project includes excavating approximately 49,000 cubic yards of sand, silt, and riprap material to create a marina and access channel to the FLC. The marina will consist of 107 wet boat slips, with 14-foot-long finger piers. The marina and access channel will be dredged to -16.0 MLW and constructed in the location of two existing municipal drainage ditches. Two upland land cuts will be excavated to link the two ditches together to promote circulation and enhance water quality. Approximately 40,000 cubic yards of sand and silt will be dredged above MHW, and 9,000 cubic yards will be dredged below MLW to connect the access channels. Vertical sheet-pile will be constructed along both sides of the access channels. All dredge material will be dewatered and contained on-site in a 13-acre upland spoil containment berm with an estimated 120,000 cubic yard capacity. In addition, approximately 118 cubic yards of rip-rap will be placed above MLW and 236 cubic yards will be placed below MLW. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-12 Draft Environmental Impact Statement 1 2 Figure 8. Bon Secour Village West Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-13 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 The line of sight distance from the access channel to the FLC will be approximately 1,320 feet to the west and 1,420 feet to the east. At the current speed of a barge (6 mph), a boater exiting the marina will have a reaction time of approximately 2.5 minutes (west) and 2.7 minutes (east) to decide whether to exit the marina or to wait and yield to the barge that has just entered the sight line. No net loss of wetlands would occur as a result of the proposed development. One road will cross the two drainage ditches at the western limits of the development, and culverts will be used to allow hydrologic connectivity between the drainage ditches on each side of the road. Five-foot setbacks from jurisdictional wetlands will be maintained throughout the remainder of the development. 2.1.5.2 Site Selection Rationale Water-based activities support tourism in southern Baldwin County, and the Bon Secour Village West development would help sustain this industry. The site along the FLC was selected for the development because it will provide facilities for watercraft during tropical storm events and provides access to fishing and recreation activities in the Gulf of Mexico and other waterbodies in the vicinity. The development will be critically associated with marine usage made available via access to the FLC. The marina is around an existing drainage ditch, which minimizes the amount of material to be dredged. 2.1.6 Delfino Resort Phase 1 The Delfino Resort Phase 1 development will be a 26-acre site in Gulf Shores, Alabama, along the northern shoreline of the FLC, east of S.R. 59 and south of Jack Edwards Airport (Figure 9). Development associated with the project will include a marina, condominiums, and other amenities. A joint application and notification was submitted to the USACE and ADEM on March 2, 2006, and assigned application number SAM-2006-686-MBM (Appendix H). 2.1.6.1 Project Description The proposed project will include approximately 724 condominiums, with 580 seasonal units and 144 permanent units. Approximately 25,000 square feet of commercial and retail space will be in the development. Of this, approximately 7,000 square feet will be dedicated to restaurants, with the remaining 18,000 square feet for general retail. Approximately forty percent of the project footprint will be used as green space consisting of parks, boardwalks, and ponds. The project includes excavating approximately 34,900 cubic yards of sand material above MHW and 17,105 cubic yards of material below MLW to create the marina and one access channel to the FLC. The marina will be approximately 123 feet wide and 522 feet long, with an access channel measuring 62 feet wide and 155 feet long. The marina will consist of 50 30-foot-long, wet boat slips, three visitor’s slips, finger piers, and boardwalks. The marina and access channel will be dredged to a depth of -16.0 MLW. The margins of the marina and access channel will be constructed of steel sheet-pile bulkheading, with a concrete retaining wall constructed behind the bulkheads. Approximately 1,555 linear feet of bulkhead will be installed. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-14 Draft Environmental Impact Statement 1 2 Figure 9. Delfino Resorts 1 and 2 Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-15 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 The Delfino Resort Marina Basin 1 will be designed to offer ample line of sight for the boats leaving the marina to enter the main waterway, in both directions, thus allowing clear visibility to see and yield to oncoming main waterway traffic from either direction. This will be accomplished by locating the marina exit along the linear frontage buffer zones on either side of the exit. The buffer zones will be designed with gradually inward-curving bulkheads on either side of the centered marina exit path. This buffer zone will allow boaters a clear line of sight and waiting space until bypassing traffic has safely cleared before they enter the main waterway. The line of sight distance from the access channel to the FLC will be approximately 1,015 feet to the west and 1,320 feet to the east. At the current speed of a barge (6 mph), a boater exiting the marina will have a reaction time of approximately 1.9 minutes (west) and 2.5 minutes (east) to decide whether to exit the marina or to wait and yield to the barge that has just entered the sight line. As another safety measure, signs will be posted in the marina that state, “Idle Speed Only While Entering or Exiting Marina. All Vessels Entering the GIWW Must Yield to Canal Traffic.” Also signs will be posted on both sides of the marina facing oncoming canal traffic that state, “Caution: Marina Ahead. Watch for Boats Entering the Waterway.” 25 26 27 28 29 30 2.1.6.2 Site Selection Rationale 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 Additional marina design features will include the following: • 100-foot opening at the entry/exit sufficient enough to allow several boats to pass each other, especially in emergency situations • There will be a floating breakwall system so boaters inside the marina and both recreational and commercial barge operators in the FLC can see each other • The opening was widened to increase the site lines as boats approach entry allowing them to see and yield to oncoming commercial and recreational traffic coming from both directions in FLC No net loss of wetlands would occur as a result of the proposed development. Water-based activities support tourism in southern Baldwin County, and the Delfino Resort Phase 1 development would help sustain this industry. The site along the FLC was selected for the development because it will provide facilities for watercraft during tropical storm events and provides access to fishing and recreation activities in the Gulf of Mexico and other waterbodies in the vicinity. The development is critically associated with marine usage made available via access to the FLC. 2.1.7 Delfino Resort Phase 2 The Delfino Resort Phase 2 development will be a 12-acre site in Gulf Shores, Alabama, along the northern shoreline of the FLC, east of S.R. 59 and south of Jack Edwards Airport (see Figure 9). Development associated with the project will include a marina, condominiums, and other amenities. A joint application and notification was submitted to the USACE and ADEM on February 27, 2006, and assigned application number SAM-2006-687-MBM (Appendix I). 2.1.7.1 Project Description The proposed project will include approximately 400 condominiums, with 320 seasonal units and 80 permanent units. Approximately 30,000 square feet of commercial and retail space will be in the development; of which, approximately 7,500 square feet will be dedicated to restaurants, with the remaining 22,500 square feet for general retail. Approximately forty percent of the project property will be green space consisting of parks, boardwalks, and ponds. The project includes excavating approximately 32,400 cubic yards of sand material above MHW and 21,500 cubic yards of material below MLW to create the marina and one access channel to the FLC. The marina will be approximately 272 feet wide and 240 feet long, with an access channel measuring 72 feet wide and 165 feet long. The marina will consist of 50 wet boat slips, ranging from 20 to 40 feet in length, Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-16 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 and finger piers and boardwalks. The marina and access channel will be dredged to a depth of -16.0 MLW. The margins of the marina and access channel will be constructed of steel sheet-pile bulkheading, with a concrete retaining wall constructed behind the bulkheads. Approximately 1,200 linear feet of bulkhead will be installed. No net loss of wetlands would occur as a result of the proposed development. The Delfino Resort Marina Basin 2 will be designed to offer ample line of sight for the boats leaving the marina to enter the main waterway, in both directions, thus allowing clear visibility to see and yield to oncoming main waterway traffic from either direction. This will be accomplished by locating the marina exit along the linear frontage buffer zones on either side of the exit. The buffer zones will be designed with gradually inward-curving bulkheads on either side of the centered marina exit path. This buffer zone allows boaters a clear line of sight and waiting space until bypassing traffic has safely cleared before they enter the main waterway. The line of sight distance from the access channel to the FLC will be approximately 1,015 feet to the west and 1,320 feet to the east. At the current speed of a barge (6 mph), a boater exiting the marina will have a reaction time of approximately 1.9 minutes (west) and 2.5 minutes (east) to decide whether to exit the marina or to wait and yield to the barge that has just entered the sight line. As another safety measure signs will be posted in the marina that state, “Idle Speed Only While Entering or Exiting Marina. All Vessels Entering the GIWW Must Yield to Canal Traffic.” Also signs will be posted on both sides of the marina facing oncoming canal traffic that state, “Caution: Marina Ahead. Watch for Boats Entering the Waterway.” Additional marina design features include the following: • 100-foot opening at entry/exit is sufficient enough to allow several boats to pass each other, especially in emergency situations • There will be a floating breakwall system so boaters inside the marina and both recreational and commercial barge operators in the FLC can see each other • The opening was widened to increase the site lines as boats approach entry allowing them to see and yield to oncoming commercial 2.1.7.2 Site Selection Rationale Water-based activities support tourism in southern Baldwin County and the Delfino Resort Phase 2 development would help sustain this industry. The site along the FLC was selected for the development because it will provide facilities for watercraft during tropical storm events and provides access to fishing and recreation activities in the Gulf of Mexico and other waterbodies in the vicinity. The development will be critically associated with marine usage made available via access to the FLC. 2.1.8 Harbour Lights The Harbour Lights development will be a 16-acre site in Gulf Shores, Alabama, along the northern shoreline of the FLC, west of S.R. 59 (Figure 10). Development associated with the project will include a marina, condominiums, and other amenities. A joint application and notification was submitted to the USACE and ADEM on January 19, 2006, and assigned application number AL06-00206-B (Appendix J). 2.1.8.1 Project Description The proposed project will include approximately 340 condominiums, with 170 seasonal units and 170 permanent units. Approximately 25,000 square feet of commercial and retail space will be in the development and will include restaurants and retail shops. The percent of the project area that will be used as green space has not been determined. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-17 Draft Environmental Impact Statement 1 2 Figure 10. Harbour Lights Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-18 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 The project includes excavating approximately 21,500 cubic yards of sand material above MHW and 70,500 cubic yards of material below MLW to create the marina and one access channel to the FLC. The marina and access channel will be dredged to a depth of –16.0 MLW. The marina will consist of 76 wet boat slips, ranging from 20 to 50-feet in length. Approximately 1,415 linear feet of 10-foot-wide dock and 2,920 linear feet of 5-foot-wide dock will be constructed. The marina interior will be constructed with sheet-pile bulkhead, and areas along the FLC will be bulkheaded with sheet-pile and protected by riprap. All dredge material will be dewatered and contained on an upland spoil site. 25 26 27 28 29 30 2.1.8.2 Site Selection Rationale 31 32 33 34 35 36 37 38 39 40 41 42 43 44 The south end of the marina will be aligned with the northern boundary of the FLC easement. The entire opening to the waterway will be approximately 220 feet wide (T-dock plus openings). The marina will have two 75-foot-wide fairways that open to the FLC. These fairways will be set back 66 feet (east) and 84 feet (west) from the existing banks of the FLC. The opening will be flared to improve site distance for boats entering the FLC from the marina. The banks of the entrance way will be protected by a riprap wall with a top approximately 3.0 feet above MHW. The banks behind the walls will be sloped from +3.0 MHW gradually up to the finished site elevation. It is anticipated that the docks inside the facility will be floating docks. There will be no docking allowed on the outside of the center T-dock. The line of sight distance from the access channel to the FLC will be approximately 812 feet to the west and 1,081 feet to the east. At the current speed of a barge (6 mph), a boater exiting the marina will have a reaction time of approximately 2.1 minutes (west) and 1.5 minutes (east) to decide whether to exit the marina or to wait and yield to the barge that has just entered the sight line. In addition, signs will be posted at the entrance/exit point of the access channel identifying no-wake and idle-only zones. No net loss of wetlands would occur as a result of the proposed development. Water-based activities support tourism in southern Baldwin County, and the Harbour Lights Marina development would help sustain this industry. The site along the FLC was selected for the development because it will provide facilities for watercraft during tropical storm events and provides access to fishing and recreation activities in the Gulf of Mexico and other waterbodies in the vicinity. The development will be critically associated with marine usage made available via access to the FLC. 2.1.9 KFPH Properties The KFPH Properties development will be a 5-acre site in Gulf Shores, Alabama, along the northern shoreline of the FLC, west of S.R. 59 (Figure 11). Development associated with the project will include a marina, condominiums, and commercial space. A joint application and notification was submitted to the USACE and ADEM on March 7, 2006, and assigned application number SAM-2006-685-MBM (Appendix K). 2.1.9.1 Project Description The proposed project will include approximately 72 condominium units. Approximately 20,000 square feet of commercial space will be in the development. The percent of the project area that will be used as green space has not been determined. The project will include excavating approximately 53,000 cubic yards of sand and silt material above MHW and 11,500 cubic yards of material below MLW to create a marina and one access channel to the FLC. The marina and access channel will be dredged to a depth of -16.0 MLW. The marina will consist of Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-19 Draft Environmental Impact Statement 1 2 Figure 11. KFPH Properties Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-20 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 50 wet boat slips and finger piers. The marina slips will be 28 feet deep by 15.75 feet wide, and the finger piers will be 14 feet long by 3.5 feet wide. The marina basin will be armored with sheet-pile. All dredge material will be dewatered and contained within a 1.8-acre spoil containment berm on uplands. The containment berm will be approximately 6 feet tall and have a capacity of 11,650 cubic yards. In addition, approximately 113 cubic yards or rip-rap will be placed above MLW and 202 cubic yards will be placed below MLW. 15 16 17 18 19 20 2.1.9.2 Site Selection Rationale 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 The line of sight distance from the access channel to the FLC will be approximately 3,500 feet to the west and 2,000 feet to the east. At the current speed of a barge (6 mph), a boater exiting the marina will have a reaction time of approximately 6.6 minutes (west) and 3.8 minutes (east) to decide whether to exit the marina or to wait and yield to the barge that has just entered the sight line. In addition, signs will be posted at the entrance/exit point of the access channel identifying no-wake and idle-only zones. No net loss of wetlands will occur as a result of the proposed development. Water-based activities support tourism in southern Baldwin County, and the KFPH Properties development would help sustain this industry. The site along the FLC was selected for the development because it will provide facilities for watercraft during tropical storm events and provides access to fishing and recreation activities in the Gulf of Mexico and other waterbodies in the vicinity. The development will be critically associated with marine usage made available via access to the FLC. 2.1.10 Lawrenz Eastern Marina The proposed Lawrenz Eastern Marina development will be a 37-acre site in Gulf Shores, Alabama, along the northern shoreline of the FLC, east of S.R. 59 (Figure 12). Development associated with the project will include a marina, condominiums, and commercial and retail space. A joint application and notification was submitted to the USACE and ADEM on October 18, 2006, and assigned application number SAM-2006-2330-MBM (Appendix L). 2.1.10.1 Project Description The proposed project will include approximately 1,250 condominium units, with 500 seasonal units and 750 permanent units. Approximately 500,000 square feet of retail space will be in the development and includes restaurants, a marina store, and retail shops. Approximately 200,000 square feet of commercial space will be in the development and includes professional offices and banks. Green space in the development includes approximately 1.85 acres of parks, including a children’s park. The project includes excavation of approximately 83,000 cubic yards of sandy clay material above MHW and 97,000 cubic yards of material below MLW to create the marina and one access channel to the FLC. The marina and access channel will conform to an existing drainage ditch and boat slip that has been historically used as an entrance point onto the FLC. All excavated material will be disposed of in an onsite 12-acre upland spoil containment berm, with a capacity of approximately 83,170 cubic yards. The marina will consist of 77 wet boat slips. Approximately 1,850 linear feet of sheet-pile bulkhead will be installed around the perimeter of the marina and approximately 880 linear feet of wave attenuation will be placed waterward of the marina for protection. In addition, approximately 1,470 cubic yards of rip-rap will be placed above MLW and 1,680 cubic yards will be placed below MLW. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-21 Draft Environmental Impact Statement 1 2 Figure 12. Lawrenz Eastern Marina Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-22 Draft Environmental Impact Statement 1 2 3 4 5 6 7 The line of sight distance from the access channel to the FLC will be approximately 930 feet to the west and 9,080 feet to the east. At the current speed of a barge (6 mph), a boater exiting the marina will have a reaction time of approximately 1.7 minutes (west) and 17.2 minutes (east) to decide whether to exit the marina or to wait and yield to the barge that has just entered the sight line. In addition, signs will be posted at the entrance/exit point of the access channel identifying no-wake and idle-only zones. No net loss of wetlands will occur as a result of the proposed development. 8 9 10 11 12 13 14 15 16 17 2.1.10.2 Site Selection Rationale 18 19 20 21 22 23 2.1.11 Lawrenz Western Marina 24 25 26 27 28 29 30 31 32 33 34 35 36 37 Water-based activities support tourism in southern Baldwin County, and the Lawrenz Eastern Marina development would help sustain this industry. The site along the FLC was selected for the development because it will provide facilities for watercraft during tropical storm events and provides access to fishing and recreation activities in the Gulf of Mexico and other waterbodies in the vicinity. The development will be critically associated with marine usage made available via access to the FLC. The marina and access channel will be constructed in the same location as an existing drainage ditch and boat slip, which has historically been used as an entrance point onto the FLC. In addition, the site is in an area away from bridges or curves in the FLC, which reduces the navigation and safety risks in this area. The Lawrenz Western Marina development will be a 8.4-acre upland site in Gulf Shores, Alabama, along the northern shoreline of the FLC, west of S.R. 59 (Figure 13). Development associated with the project will include a marina and condominiums. A joint application and notification was submitted to the USACE and ADEM on October 18, 2006, and assigned application number SAM-2006-2329-MBM (Appendix M). 2.1.11.1 Project Description The proposed project will include approximately 288 condominium units, with 115 seasonal units and 173 permanent units. No retail or commercial space will be included in the development. Green space in the development includes approximately 0.84 acre of landscaped buffer space. The project includes excavating approximately 90,000 cubic yards of sandy clay material above MHW and 20,000 cubic yards of material below MLW to create the marina and one access channel to the FLC. All excavated material will be disposed of in an on-site 2.4-acre upland spoil containment berm, with a capacity of approximately 13,620 cubic yards. The marina will consist of 43 wet boat slips. Approximately 1,250 linear feet of sheet-pile bulkhead will be installed around the perimeter of the marina, and approximately 110 linear feet of wave attenuation will be placed waterward of the marina for protection. The marina entrance/exit will be approximately 345 feet west of the S.R. 59 bridge. In addition, approximately 125 cubic yards of rip-rap will be placed above MLW and 189 cubic yards will be placed below MLW. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-23 Draft Environmental Impact Statement 1 2 Figure 13. Lawrenz Western Marina Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-24 Draft Environmental Impact Statement 1 2 3 4 5 6 7 The line of sight distance from the access channel to the FLC will be approximately 2,830 feet to the west and 1,090 feet to the east. At the current speed of a barge (6 mph), a boater exiting the marina will have a reaction time of approximately 5.4 minutes (west) and 2.1 minutes (east) to decide whether to exit the marina or to wait and yield to the barge that has just entered the sight line. In addition, signs will be posted at the entrance/exit point of the access channel identifying no-wake and idle-only zones. No net loss of wetlands will occur as a result of the proposed development. 8 9 10 11 12 13 2.1.11.2 Site Selection Rationale 14 15 16 17 18 19 2.1.12 Oyster Bay Marina 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 Water-based activities support tourism in southern Baldwin County, and the Lawrenz Western Marina development would help sustain this industry. The site along the FLC was selected for the development because it will provide facilities for watercraft during tropical storm events and provides access to fishing and recreation activities in the Gulf of Mexico and other waterbodies in the vicinity. The development will be critically associated with marine usage made available via access to the FLC. The Oyster Bay Marina development will be a 205-acre site in Gulf Shores, Alabama, along the southern shoreline of Oyster Bay, approximately 4,700 feet south of the FLC (Figure 14). Development associated with the project will include a marina, condominiums, and other amenities. A joint application and notification was submitted to the USACE and ADEM on February 6, 2006, and assigned application number AL06-00310-B (Appendix N). 2.1.12.1 Project Description The proposed project will include approximately 1,000 condominium units, with 500 seasonal units and 500 permanent units. Approximately 7,000 square feet of restaurant space will be in the development. No other retail or commercial space will be on the project property. Approximately 155 acres of the project property will be green space consisting of parks, boardwalks, and ponds. The project will include excavation of approximately 675,000 cubic yards of sand material to create the marina and one access channel to the FLC. All dredge material will be dewatered and contained on uplands on the property. The marina will be along the southern shoreline of Oyster Bay and the access channel will be dredged approximately 4,600 linear feet through Oyster Bay from the marina to the FLC. The marina and access channel will be dredged to a depth of -16.0 MLW for a distance of 300 feet from the edge of the FLC channel. A 2005 survey of the project area to be dredged concluded that there are no known oyster beds or submerged aquatic vegetation within the area to be dredged. The marina will consist of 396 wet boat slips, 60-feet in length. Approximately 3,360 linear feet of boardwalk will cross a tidally influenced wetland to connect the upland development to the marina. According to ADEM regulations, the boardwalk will be constructed as high as wide (10 feet by 10 feet) and have ¾ inch spacing between planks to allow sufficient light to pass to wetland vegetation below. The access channel will connect to the FLC at a 90 degree angle at the northern open end of the bay. The line of sight distance from the access channel to the FLC will be approximately 1,000 feet to the west and 2,700 feet to the east. At the current speed of a barge (6 mph), a boater exiting the marina will have a reaction time of approximately 1.9 minutes (west) and 5.11 minutes (east) to decide whether to exit the marina or to wait and yield to the barge that has just entered the sight line. No net loss of wetlands will occur as a result of the proposed development. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-25 Draft Environmental Impact Statement 1 2 Figure 14. Oyster Bay Marina Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-26 Draft Environmental Impact Statement 1 2 3 4 5 6 2.1.12.2 Site Selection Rationale Water-based activities support tourism in southern Baldwin County, and the Oyster Bay Marina development would help sustain this industry. The site south of the FLC was selected for the development because it will provide facilities for watercraft during tropical storm events and provides access to fishing and recreation activities in the Gulf of Mexico and other waterbodies in the vicinity. The development will be critically associated with marine usage made available via access to the FLC. 2.1.13 Summerdance 7 8 9 10 11 12 The Summerdance development will be a 240-acre site in Gulf Shores, Alabama, along the northern shoreline of the FLC, east of S.R. 59 and southeast of Jack Edwards Airport (Figure 15). Development associated with the project will include three marinas, condominiums, and other amenities. A joint application and notification was submitted to the USACE and ADEM on February 24, 2006, and assigned application number SAM-2006-952-MBM (Appendix O). 13 2.1.13.1 Project Description 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 2.1.13.1.1 Original Site Design 35 36 37 38 39 40 41 42 The proposed development will include approximately 3,175 condominium units, with 2,127 seasonal units and 1,048 permanent units. Amenities associated with the condominiums will include swimming pools, tennis courts, and a clubhouse. There will be approximately 27,000 square feet of retail and commercial space in the development, including restaurants and convenience stores. Approximately 100 acres of the proposed project will be green space, with parks, lakes, and boardwalks. The site will have approximately 9,000 feet of shoreline along the FLC. The project will include excavation of approximately 569,000 cubic yards of sand and clay material to create the three marinas and three access channels to the FLC. Each marina will consist of flow-through breakwater, access piers, and finger piers with tie-off piles. The east marina will consist of 182 wet boat slips and 336 dry boat slips. The west marina will consist of 92 wet boat slips and 490 dry boat slips. The central marina will consist of 139 wet boat slips. All marinas and associated entrance channels will be dredged to -16.0 MLW. All dredge material will be contained on uplands adjacent to the marinas and used a fill for associated on-shore development. Riprap (7,500 cubic yards) and sheet-pile bulkheads (6,000 linear feet) will form the marina basins and stabilize the adjacent shoreline. Flow-through breakwaters (1,687 linear feet) will separate the marina basins from the FLC. Approximately 4.12 acres of non-jurisdictional wetlands and 10.8 acres of jurisdictional wetlands will be filled or dredged for project development. The applicant has proposed to mitigate for unavoidable impacts on the 10.8 acres of jurisdictional wetlands by purchasing credits at an approved mitigation bank. Approximately 15.6 acres of jurisdictional wetlands will be avoided and incorporated into the project’s green space. 2.1.13.1.2 Revised Site Design A revised site design was submitted in May 2007 to address original site design wetland impacts. The east marina was moved further west, and line of sight distance from the marina to the FLC will be approximately 2,585 feet to the east and 700 feet to the west. The west marina will be relocated 400 feet further west, and line of sight distance from the marina to the FLC will be approximately 1,550 feet to the east and 1,615 feet to the west. The central marina will be shifted approximately 550 feet further west, and line of sight distance from the marina to the FLC will be approximately 2,585 feet to the east and 700 feet to the west. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-27 Draft Environmental Impact Statement 1 2 Figure 15. Summerdance Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-28 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 The number of wet boat slips for each marina was changed in the revised site design. The east marina was redesigned to have 88 slips, resulting in a reduction of 94 boat slips. The west marina was redesigned to have 107 slips, resulting in an increase of 15 boat slips. The central marina was redesigned to have 123 slips, resulting in a reduction of 16 boat slips. The revised site design resulted in a net reduction of 95 wet slips. The number of dry boat slips remained unchanged. 29 Modifications to the marina design include the following: 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 The amount of jurisdictional wetlands affected as a result of the revised site design decreased from 10.8 acres to 0.29 acres. On June 8, 2007, an additional revision was submitted, which divided the project into three parcels named Summerdance West, Summerdance Central, and Summerdance East (Appendix O). A detailed description of each project is provided below. Summerdance West. Summerdance West will include an area of approximately 371,790 square feet over land north and south of the FLC easement (Figure 16). There will be approximately 282,810 square feet to the north and 88,980 square feet to the south. The amount of material to be dredged below MHW will be approximately 133,325 cubic yards, with 93,745 cubic yards north of the FLC easement and 39,580 cubic yards south of the FLC easement. The amount of material to be dredged above MHW will be approximately 129,675 cubic yards, with 94,795 cubic yards north of the FLC easement and 34,880 cubic yards south of the FLC easement. Overall, there will be approximately 263,000 cubic yards removed for this project. There will also be a total of 550 cubic yards of rip-rap associated with this project. Excavating the basin could create two acres of estuarine habitat. The Summerdance West marina, which will contain 107 wet slips and 490 dry slips in a single storage building, will be moved 400 feet further west from the bend in the FLC, adding another 45 seconds onto the reaction time for a barge traveling 6 mph. A barge in the curve to the east will be able to see a boat exiting the marina from a distance of approximately 3,920 feet and will have approximately 7.4 minutes to react. • • • • • • A flared opening so boats exiting the marina will be able to see other boats that are 1,615 feet to the west and 1,554 feet to the east of the marina entry Widening the marina fairway at the entry to 105 feet from 68 feet to improve navigation and site lines by 54 percent Increasing the marina entry/exit width 25 percent from 120 feet to 150 feet Relocating the dry storage up against the inflow/outflow easement and creating a long, dedicated queuing area so boats no longer are loaded and unloaded in the middle of the marina Adding two queuing areas for boats departing and returning to dry storage Replacing flow-through breakwater with a floating breakwater to improve visibility/site lines and improve flushing The line of sight distance from the access channel to the FLC will be approximately 1,615 feet to the west and 1,554 feet to the east. At the current speed of a barge (6 mph), a boater exiting the marina will have a reaction time of approximately 3.1 minutes (west) and 2.9 minutes (east) to decide whether to exit the marina or to wait and yield to the barge that has just entered the sight line. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-29 Draft Environmental Impact Statement 1 2 Figure 16. Summerdance West Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-30 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Summerdance Central. Summerdance Central will include an area of approximately 560,825 square feet over land north and south of the FLC easement (Figure 17). There will be approximately 337,650 square feet to the north and 223,175 square feet to the south. The amount of material to be dredged below MHW will be approximately 197,700 cubic yards, with 111,925 cubic yards north of the FLC easement and 85,770 cubic yards south of the FLC easement. The amount of material to be dredged above MHW will be approximately 314,465 cubic yards, with 138,185 cubic yards north of the FLC easement and 176,280 cubic yards south of the FLC easement. Overall, there will be approximately 512,165 cubic yards removed for this project. There will also be a total of 650 cubic yards of rip-rap associated with this project. Excavating the basins could create approximately 3.75 acres of estuarine habitat. The Summerdance Central marina will be relocated 550 feet further west from its original location on the FLC, adding another 45 seconds onto the reaction time for a barge traveling 6 mph, and modified to include a 12 percent reduction in wet boat slips from 139 to 123. With the marina relocation, a barge in the curve to the east of the marina will be able to see a boat exiting the marina from a distance of approximately 2,615 feet and will have approximately 4.9 minutes to react. Modifications to the marina design include the following: • A flared opening so boats exiting the marina will be able to see other boats that are 700 feet to the west and 2,585 feet to the east of the marina entry • A widened marina fairway at entry to 100 feet from 67 feet for a 50 percent improvement in navigation and site lines • Increased marina entry/exit width from 184 feet to 200 feet • Flow-through breakwater with a floating breakwater to improve visibility/site lines and flushing The line of sight distance from the access channel to the FLC will be approximately 700 feet to the west and 2,585 feet to the east. At the current speed of a barge (6 mph), a boater exiting the marina will have a reaction time of approximately 1.3 minutes (west) and 4.9 minutes (east) to decide whether to exit the marina or to wait and yield to the barge that has just entered the sight line. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-31 Draft Environmental Impact Statement 1 2 Figure 17. Summerdance Central Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-32 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 Summerdance East. Summerdance East will include an area of approximately 322,390 square feet over land north and south of the FLC easement (Figure 18). There will be approximately 238,750 square feet to the north and 83,640 square feet to the south. The amount of material to be dredged below MHW will be approximately 120,365 cubic yards, with 79,140 cubic yards north of the FLC easement and 41,225 cubic yards south of the FLC easement. The amount of material to be dredged above MHW will be approximately 123,115 cubic yards, with 88,868 cubic yards north of the FLC easement and 34,250 cubic yards south of the FLC easement. Overall, there will be approximately 243,480 cubic yards removed for this project. There will also be a total of 300 cubic yards of rip-rap associated with this project. 18 Modifications to the marina design include the following: 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 The Summerdance East marina will be relocated as far west and south as possible to reduce the surface area affected by dredging from approximately 8.65 acres to 6.97 acres, as well as a 95 percent reduction of impacts on jurisdictional wetlands (6.77 acres to 0.29 acres). Wet boat slips will be reduced by 52 percent from 182 to 88. With the relocation, a barge in the curve to the west or east of the marina will be able to see a boat exiting the marina from a distance of approximately 2,300 feet from the west and 2,370 feet from the east. Reaction times will be approximately 4.3 minutes from the west and 4.5 minutes from the east. • • • • • • • A flared opening so boats exiting the marina will be able to see other boats that are approximately 905 feet to the west and 1,490 feet to the east of the marina entry A widened marina fairway at entry to 83 feet from 75 feet for an 11 percent improvement in navigation and site lines Increased marina entry/exit width from 130 feet to 150 feet Replaced the flow-through breakwater with a floating breakwater to improve visibility/site lines and flushing Added queuing areas for boats departing and returning to dry storage Moved the road connecting to the eastern portion of the site to minimize impacts on wetlands Avoided creating isolated wetlands by maintaining hydrology at the road through the use of culverts The line of sight distance from the access channel to the FLC will be approximately 905 feet to the west and 1,490 feet to the east. At the current speed of a barge (6 mph), a boater exiting the marina will have a reaction time of approximately 1.7 minutes (west) and 2.8 minutes (east) to decide whether to exit the marina or to wait and yield to the barge that has just entered the sight line. All other elements of the development will remain as described in the original site design. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-33 Draft Environmental Impact Statement 1 2 Figure 18. Summerdance East Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-34 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 2.1.13.2 Site Selection Rationale Water-based activities support tourism in southern Baldwin County, and the Summerdance development would help sustain this industry. The site along the FLC was selected for the development because it will provide facilities for watercraft during tropical storm events and provides access to fishing and recreation activities in the Gulf of Mexico and other waterbodies in the vicinity. The development will be critically associated with marine usage made available via access to the FLC. The three marina basins are in areas where natural breaks in the land exist created by two existing inflow/outflow structures and easements that connect the FLC to a dredge maintenance disposal area. 9 10 11 12 13 14 15 2.1.14 Walker Creek/Portage Crossing 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 2.1.14.1 Project Description The Walker Creek/Portage Crossing development will be a 10-acre site in Orange Beach, Alabama, along the northern shoreline of the FLC, east of the Foley Beach Expressway (Figure 19). The site is triangular in shape and is transected by Portage Creek near the property’s east end. Development associated with the project will include condominiums and a marina. A joint application and notification was submitted to the USACE and ADEM on February 11, 2005, and assigned application number AL05-00466-J (Appendix P). The proposed development will include approximately 516 condominium units in four residential buildings. No retail or commercial space will be constructed as part of the development. A public boat launch is proposed to be constructed on the west side of the property as a benefit to the public. The project includes excavating approximately 39,400 cubic yards of sand material to create a marina consisting of 42 wet boat slips and one access channel to the FLC. The marina and access channel will be dredged to a depth of -16 MLW. All dredge material will be impounded and dewatered on-site and used as fill for upland project development. Existing conditions show that the eastern line of sight from boats exiting Portage Creek are limited because of trees and other vegetation. However, during construction, a portion of the uplands will be dredged and most of the remaining uplands will be cleared according to the site plan. The line of sight distance from the access channel to the FLC will be approximately 1,700 feet to the west and 1,800 feet to the east. At the current speed of a barge (6 mph), a boater exiting the marina will have a reaction time of approximately 3.2 minutes (west) and 3.4 minutes (east) to decide whether to exit the marina or to wait and yield to the barge that has just entered the sight line. Approximately 0.97 acres of jurisdictional wetlands will be filled or dredged for project development. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-35 Draft Environmental Impact Statement 1 2 Figure 19. Walker Creek/Portage Crossing Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-36 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 2.1.14.2 Site Selection Rationale Water-based activities support tourism in southern Baldwin County, and the Walker Creek development would help sustain this industry. The site along the FLC was selected for the development because it will provide facilities for watercraft during tropical storm events and provides access to fishing and recreation activities in the Gulf of Mexico and other waterbodies in the vicinity. The development will be critically associated with marine usage made available via access to the FLC. In addition, the development offers continuity to the Bama Bayou and Wharf developments, allowing visitors to benefit from the attractions at nearby facilities. 9 10 11 12 13 14 2.1.15 Waterways East 15 2.1.15.1 Project Description 16 17 18 19 20 21 22 23 24 25 26 27 28 29 2.1.15.1.1 Original Site Design 30 31 32 33 34 35 36 37 38 39 40 41 42 The Waterways East development will be a 12-acre site in Gulf Shores, Alabama, along the northern shoreline of the FLC, east of S.R. 59 and south of Jack Edwards Airport (Figure 20). Development associated with the project will include condominiums, a marina, and other amenities. A joint application and notification was submitted to the USACE and ADEM on February 23, 2006, and assigned application number SAM-2006-951-MBM (Appendix Q). The proposed development will include approximately 292 condominium units, with 200 seasonal units and 92 permanent units, in three residential buildings. Amenities associated with the condominiums include swimming pools and tennis courts. No retail or commercial space will be constructed as part of the development. Approximately 10 acres of the project footprint will be used as green space, with parks, walking paths, and boardwalks. The project will include excavation of approximately 52,000 cubic yards of sand and clay material to create a 2-acre marina and one access channel to the FLC. The marina will incorporate an existing 1-acre barge slip. The marina will consist of 44 wet boat slips, 220-feet long flowthrough breakwater, access piers, and finger piers with tie-off piles. Riprap (300 linear feet) and a sheetpile bulkhead (990 linear feet) will form the marina basin and stabilize the adjacent FLC shoreline. The marina and access channel will be dredged to -16.0 MLW. All dredge material will be contained on uplands adjacent to the marina and used as fill for on-shore development. No net loss of wetlands would occur as a result of the proposed development. 2.1.15.1.2 Revised Site Design A revised site design was submitted in May 2007 to address potential safety issues. To improve navigation and lines of sight, the marina fairway will be widened at the entry from 59 feet to 94 feet, the marina entry way will be widened by 25 percent from 80 feet to 100 feet, and the flow-through breakwater will be replaced with a floating breakwater, which will also improve flushing. The first two rows of boat slips (four slips total) were eliminated to accommodate the changes to improve safety. Additional boat slips were added, as well, to bring the total number of slips to 51. This project footprint will have an area of approximately 144,205 square feet over the land north and south of the FLC easement. There will be approximately 103,540 square feet to the north and 40,665 square feet to the south. The amount of material to be dredged below MHW will be approximately 54,550 cubic yards, with approximately 34,320 cubic yards north of the FLC easement and 20,230 cubic yards south of the FLC easement. The amount of material to be dredged above MHW will be approximately Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-37 Draft Environmental Impact Statement 1 2 Figure 20. Waterways East Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-38 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 61,485 cubic yards, with approximately 42,375 cubic yards north of the FLC easement and 19,110 cubic yards south of the FLC easement. Overall, there will be approximately 116,040 cubic yards removed for this project. There will also be a total of 275 cubic yards of rip-rap associated with this project. The line of sight distance from the access channel to the FLC will be approximately 1,090 feet to the east and 805 feet to the west. With a barge traveling at 6 mph, a boater exiting the marina will have a reaction time of 1.5 minutes (west) and 2.1 minutes (east) to decide whether to exit the marina or wait and yield to a barge that has just entered the line of sight. All other elements of the development will remain as described in the original site design. 2.1.15.2 Site Selection Rationale Water-based activities support tourism in southern Baldwin County, and the Waterways East development would help sustain this industry. The site along the FLC was selected for the development because it will provide facilities for watercraft during tropical storm events and provides access to fishing and recreation activities in the Gulf of Mexico and other waterbodies in the vicinity. The development will be critically associated with marine usage made available via access to the FLC. 2.1.16 Alabama Marine Resources In addition to the boat slips previously discussed, there will be four boat slips located at a facility along the FLC for use by the Alabama Marine Resources. These slips will be constructed on the north side of the FLC located between the Summerdance and Delfino developments. The boat basin will be 100 feet by 85 feet, and each boat slip will have dimensions of 40 feet by 10 feet. Two of these slips would be for the Marine Police, which would patrol the FLC as part of the safety/mitigation plan. The other two slips would be used by the Marine Resources staff for their purposes. 2.1.17 Wetland Impacts On the basis of the project descriptions provided for each proposed development, three developments will impact jurisdictional tidal and non-tidal wetlands. 501 Point West, Summerdance East, and Walker Creek/Portage Crossing will affect 0.79 acres (34,848 square feet), 0.29 acres (12,632 square feet), and 0.97 acres (42,253 square feet), respectively. The project descriptions for 501 Point West, Summerdance East, and Walker Creek/Portage Crossing are presented in Sections 2.1.2.1, 2.1.13.1, and 2.1.14.1, respectively. Mitigation plans for 501 Point West and Summerdance East are summarized in Sections 2.1.17.1 and 2.1.17.2. Walker Creek/Portage Crossing has not prepared nor submitted a mitigation plan. 2.1.17.1 501 Point West Mitigation Plan The goal of the mitigation plan for 501 Point West is to replace wetlands functions lost at the project site by restoring tidal marsh and tidally influenced marsh along the fringes of existing tidal marsh and tidally influenced marsh. Total wetland impact associated with this proposed development is 0.79 acres. The unavoidable wetland impacts will be mitigated on site through the restoration of tidal marsh and tidally influenced marsh. A total of 68,744 ft2, or 1.58 acres, of marsh will be restored contiguous to existing tidal and tidally influenced marsh. Wetlands will be replaced at a 2:1 ratio. The proposed mitigation site was selected because it is already owned by the developer, it is adjacent to existing tidal wetlands, and the type of wetland restoration proposed has proven to have a high rate of success. Implementation of the restoration work will be done prior to, or concurrent with, permitted wetland impacts associated with project construction. The detailed wetland mitigation plan for 501 Point West can be found in Appendix D. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-39 Draft Environmental Impact Statement 1 2 3 4 5 6 2.1.17.2 Summerdance East Mitigation The total amount of wetland impacts associated with this project is 0.29 acres. Wetland Rapid Assessment Procedure (WRAP) was utilized to determine that the function of wetlands slated to be impacted is within the medium quality range. In lieu of a mitigation plan, Summerdance East will achieve compensatory mitigation for any unavoidable, permitted impacts through purchasing the appropriate amount of wetland credit from an approved mitigation bank. 7 8 9 10 11 12 13 The mitigation ration for medium quality wetland credits through the Weeks Bay Mitigation bank is 2.5:1. Which means 0.73 acres worth of credits will be purchased to mitigate for the 0.29 acres to be impacted. Credits will be purchased as specified in conditions of the USACE permit. 14 2.2 GENERAL REQUIREMENTS APPLICABLE FOR ALL DEVELOPMENTS 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 After reviewing the permit applications, the USACE has recommended the following general requirements for each of the proposed 17 marinas on the FLC: A copy of the letter stating Summerdance East’s intention to purchase credits, as well as the WRAP form, can be found in Appendix O. 1. 2. 3. 4. 5. 6. 7. 8. No structures on the government right-of-way or within the waterway. Fueling facilities must be within the protected area of the marina. Lighting must be designed so as not to impact commercial navigation. All marinas must be designed for wakes produced from the waterway and must provide wave attenuation within the marinas. Entrances must be designed to provide safe ingress and egress into the facilities. All marina entrance channels must be a minimum of -16 feet MLW from the toe of the waterway channel to the government right-of-way limit. Slope protection/erosion control must be provided at all marina entrances. All facilities must provide an engineering design and analysis to address all the general and specific requirements cited within these requirements. 30 2.3 ALTERNATIVES 31 32 33 34 35 36 37 38 39 40 41 The USACE regulatory analysis requires the applicants to provide a detailed analysis of alternative sites considered as well as alternative project site plans considered to demonstrate the avoidance and minimization of impacts on the aquatic resources to the greatest extent possible. The applicants’ analysis must also address the public interest factors that are relevant to their project. 42 43 44 45 46 For the purposes of this EIS, the applicants were required to provide an analysis of alternative sites and alternative site plans that demonstrated an avoidance or minimization of impacts on aquatic ecosystems, wetlands, critical habitat, EFH, federally listed TES, and cultural resources. The analysis also includes an explanation for the alternate site selection including, but not limited to ownership, housing demand, economic benefit to the public and private sectors, availability of green space, proximity to navigable waterways, an absence of hazardous or toxic materials/waste, and infrastructure. 2.3.1 Alternative Considered but not Selected for Detailed Analysis One other alternative, the original proposed site designs, was considered but not carried forward in the analysis. Between November 2004 and October 2006, joint applications and notifications were submitted to the USACE and ADEM for 15 proposed developments on the FLC. The applicants applied for 3,591 boat slips, which included 1,849 wet boat slips and 1,742 dry boat slips, and proposed dredging 2,710,064 Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-40 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 cubic yards of uplands, waterbottoms, and wetlands to create the marinas for each development. Approximately 12.95 acres of jurisdictional wetlands and 4.12 acres of non-jurisdictional wetlands would be dredged or filled as part of construction activities. In March 2008, 501 Point West and Summerdance submitted revised applications and site designs for avoidance of wetlands, and Waterways East submitted revised designs for safety and navigational improvements. Walker Creek/Portage Crossing has not proposed a reduction in affected jurisdictional wetlands. This resulted in a final slip count of 1,722 wet slips and 1,742 dry slips for a total of 3,464 slips. In addition, the quantity of dredged material increased to 3,143,195 cubic yards and the acres of affected jurisdictional wetlands was reduced to 2.05 acres. Detailed descriptions of each development’s original site designs are provided in Section 2.1 and summarized in Table 6. This alternative was not carried forward for further analysis because the total number of slips applied for (3,464) exceeds the maximum number of slips (3,093) that the USACE will approve for permits (see Section 2.3.2.2 and Appendix R). Because the federally authorized purpose of the FLC is for commercial traffic, increased recreational use must not affect present and future commercial operations. On the basis of information provided in the WCS (see Appendix R) and best professional judgment, the number of boats that would occupy these slips has the potential to adversely affect commercial barge traffic on the FLC and increase safety risks because of the increased volume of traffic on the waterway at any time. As a result, approving permits for, and construction of, 3,464 boat slips on the FLC is not a reasonable alternative and will not be discussed further in this EIS. 2.3.2 Alternatives Selected for Detailed Analysis The USACE has identified the No Action Alternative, Maximum Boat Slip Alternative, and Minimum Boat Slip Alternative as the principal alternatives for detailed analysis. These alternatives were selected for further analysis because they propose a conservative approach in the number of boat slips to be permitted, select management options to decrease impacts on commercial barge navigation while maintaining a safe environment for recreational boaters, propose site designs and management options to minimize wetland impacts, and adhere to guidelines set forth in section 10 and section 404 regulations. Developing management options included in the selected alternatives involved a screening analysis of resource-specific management activities. Marina and boat slip specific issues focused on acceptable linesof-sight to ensure safe egress from marinas, number and location of mooring facilities for commercial craft (e.g., barges), general marina designs, and appropriate avoidance and minimization of wetland impacts. The screening analysis involved using accepted standards, guidelines, and policies, as well as best professional judgment and information presented in the WCS, to identify management practices to achieve the management objectives for the FLC. Consistent with NEPA, developing the selected alternatives focused on a reasonable range of resourcespecific management options and using those options to develop a Preferred Alternative that could be implemented in the foreseeable future. Applying the screening analysis in developing the selected alternatives eliminated the need to define and evaluate hypothetical alternatives that could not, or would not, be implemented. As a result, the EIS formally addresses the three principal alternatives. These alternatives are summarized in Section 2.3.2.4 (Table 7). Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-41 Draft Environmental Impact Statement 1 Table 6. Summary of Original Proposed Developments 578 143 116 Dredge (cubic yards) 425,810 130,000 38,900 Total slips Development 47 Canal Place 501 Point West Bayside Harbour Bon Secour Village Eastern Marina Bon Secour Village Western Marina Delfino Resort Phase 1 Delfino Resort Phase 2 Harbour Lights Marina KFPH Properties Lawrenz Eastern Marina Lawrenz Western Marina Oyster Bay Marina Summerdance West Summerdance Central Wet slips 270 63 116 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 N/A 300 N/A 450 10 528 538 98,000 107 0 107 49,000 53 0 53 52,000 50 0 50 53,900 76 50 0 0 76 50 92,000 64,500 77 0 77 180,000 43 0 43 110,000 396 107 0 490 396 597 675,000 263,000 123 0 123 512,165 88 336 424 243,480 42 0 42 39,400 51 0 51 116,040 275 1,722 1,742 3,464 3,143,195 6,665 Summerdance East Walker Creek/Portage Crossing Waterways East Total Dry slips 308 80 0 Riprap (cubic yards) 360 N/A N/A N/A 315 3,150 315 Wetlands impact (acres) 0 0.79 (JD) 0 0 0 0 0 0 0 0 0 N/A 550 650 0 0 300 0.29 (JD), 4.12 (non-JD) N/A 0 0.97 (JD) 0 2.05 (JD), 4.12 (non-JD) JD – jurisdictional wetland Non-JD – non-jurisdictional wetland 3 yd – cubic yards 2.3.2.1 Alternative 1: No Action Alternative Under the No Action Alternative, the USACE would not issue any permits. Including the CEQ-required No Action Alternative in the EIS serves as a benchmark against which the Preferred Alternative and alternatives can be evaluated. Under this alternative, the Mobile District would not allow any marinas proposed in this EIS to be constructed on the FLC. The number of wet boat slips on the FLC, not including single-family residential boat slips, would remain at 610 and no slips would be added. The proposed uplands developments could be constructed along the FLC and Oyster Bay, but dredging of uplands, waterbottoms, or wetlands for marina construction would not be permitted. The No Action Alternative is evaluated in detail in this EIS. 2.3.2.2 Alternative 2: Maximum Boat Slip Alternative Under the Maximum Boat Slip Alternative, the USACE would approve permits for up to 3,093 boat slips on the FLC through the year 2025. The methodology used to calculate this maximum number is presented in Table 10.3 of the WCS. On the basis of implementing management options and approved site plans, Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-42 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 the WCS-recommended capacity in the year 2025 to maintain commercial navigation traffic is 254 boats on the FLC at any time. This capacity translates to 3,639 boat slips on the FLC. Because no detailed guidance exists for calculating waterway capacity for a waterbody similar to the FLC, the WCS recognizes that some uncertainty exists with the recommended capacity. Therefore, a confidence range of +/– 15 percent was applied, resulting in a waterway capacity range of 3,093 to 4,185 boat slips. Using a conservative approach in approving permits for marinas along the FLC, the USACE selected the low end of this range as the maximum number of boat slips that will be approved. 2.3.2.3 Alternative 3: Minimum Boat Slip Alternative (Preferred Alternative) Under the Minimum Boat Slip Alternative, the USACE would initially approve permits for 1,818 boat slips through the first year of construction , with the option of phasing-in 1,150 additional boat slips until the maximum number of slips (3,093) is reached. The methodology used to calculate this number is presented in Table 9.3 of the WCS (Appendix R). This alternative assumes that mitigation management options (see Section 2.4) have not been implemented by the first year of construction but site plans have been approved. As a result, the WCS-recommended capacity in the year 2025 to maintain commercial navigation traffic is 191 boats on the FLC at any time. This capacity translates to 2,139 boat slips on the FLC. Because no detailed guidance exists for calculating waterway capacity for a waterbody similar to the FLC, the WCS recognizes that some uncertainty exists with the recommended capacity. Therefore, a confidence range of +/– 15 percent was applied, resulting in a waterway capacity range of 1,818 to 2,460 boat slips. Using a conservative approach in approving permits for marinas along the FLC, the USACE selected the low end of this range (1,818) as the number of boat slips that will be initially approved. Due to the implementation of mitigation options, specifically the construction of four dedicated primary commercial barge mooring locations, the number of boat slips initially approved increased to 1,943. This number was derived by updating Tables 9.1, 9.3, and 10.2 in the WCS as a result of applying the “Commercial Vessels” updated reduction factor (Appendix R). The option of phasing-in additional slips will occur approximately one year after completion of the buildout of the intial 1,943 boat slips. An evaluation period will occur each year to evaluate impacts of increased recreational boat traffic on commercial barge navigation and overall waterway safety. During this period, the applicant could implement mitigation management options and provide monitoring reports to include, but not limited to, the following: • Additional baseline data to include marina vessel use, peak volumes/flow rates, and peak hour uses. • Impacts of projects on safety on the FLC, including Alabama Marine Police and USCG reports. • Impacts on commercial navigation operations, including impacts on commercial traffic schedules. The decision to release additional boat slips will adhere to the permitting processes of the USACE, Mobile District Regulatory Division. If during the evaluation period it is determined that increased recreational boat traffic is having adverse impacts on commercial barge navigation or safety, the USACE has the authority to deny permits for additional boat slips on the FLC. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-43 Draft Environmental Impact Statement 1 2.3.2.4 Summary of Selected Alternatives 2 Table 7. Summary of Alternatives Selected for Detailed Analysis Alternatives a. No Action b. Maximum Boat Slip Alternative c. Minimum Boat Slip Alternative Proposed changes from original proposals N/A Conservative RD approach (bottom number of the 15% confidence range) in the number of boat slips additional slips for implementing accepted mitigation options approved site plans Conservative RD approach (bottom number of the 15% confidence range) in the number of boat slips potential future phase in approach no additional boat slips, mitigation options not implemented approved site plans Maximum number of additional boat slips 0 3,093 boat slips permitted 1,943 boat slips initially permitted in Year 1 1,150 additional boat slips phased in at 25% per year beginning after Year 1. Phase-in for additional boat slips N/A N/A Year 1 = 1,943 Year 2 = 2,230 Year 3 = 2,517 Year 4 = 2,804 Year 5 = 3,093 3 4 5 6 Note: Timing of the release of additional boat slips will be contingent upon the Corps determination that the current and proposed increased recreational boat traffic will not have an adverse impact on commercial navigation or safety. This table does not include single-family residential boat slips. 7 2.4 MITIGATION PLAN AND MANAGEMENT OPTIONS 8 9 10 11 12 13 The applicants submitted a fully adopted mitigation plan for section 10 issues consisting of management activities aimed at increasing safety on the FLC and minimizing impacts of increased recreational boat traffic on commercial barge operations. If the Maximum Boat Slip Alternative was to be implemented, these management activities would be implemented immediately to minimize the impacts of increased boat traffic on the FLC. Under the Minimum Boat Slip Alternative, these management activities will be phased in accordingly as the boat slips are constructed. Details of the mitigation plan are presented below. 14 2.4.1 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 2.4.1.1 Primary Use Mooring (A) (B) (C) (D) (E) Mooring Facilities 17 mooring spaces for commercial barge operators will be established (Figure 21). Spaces shown in red are deemed Primary Use. Design specifications for the mooring facilities to be constructed at these Primary Use spaces will be prepared subject to the reasonable approval of the. These facilities will have land- and wave attenuator-based tie-off infrastructure. The City of Gulf Shores will engage an engineering firm to engineer the Primary Use facilities and to estimate the total cost of the construction thereof. The City will report to the applicants the total of such estimate plus the actual then to-date and estimated remaining engineering costs for the completion of construction of the Primary Use facilities. Within thirty (30) days after the USACE issues a final action on the last of the applications being considered in the EIS, the City will assess each applicant such applicant’s proportionate share of the aforesaid total estimate, plus 25% for possible overruns, change orders, etc. Each applicant’s share will be a fraction, the numerator of which is the number of slips permitted to such applicant by the USACE and the denominator of which is the total number of slips permitted all of the applicants. Within thirty (30) days of such assessments, each applicant shall pay its assessment. The City shall perform as project manager for the Primary Use facilities to be constructed with such funds and completed on or before 180 days after the USACE issues a final action on the last Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-44 Draft Environmental Impact Statement 1 2 3 4 5 (F) of the applications being considered in the EIS to be acted upon. Any excess shall be refunded proportionately. Any deficit shall be covered proportionately by assessments issued by the City. The applicants acknowledge their understanding that the Primary Use facilities are intended for tows only and that unmanned barges, large yachts, or other motor vessels should not be moored there. 6 7 8 9 10 11 12 13 14 15 16 17 18 2.4.1.2 Secondary and Tertiary Mooring 19 20 21 22 23 24 25 26 2.4.2 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 The twelve mooring spaces shown in Figure 21 in orange are identified as Secondary Use facilities for temporary emergency mooring (fog, mechanical failure, etc.) only of commercial tows, not unmanned barges, large yachts, or other motor vessels. One tertiary mooring location, identified in yellow, is located immediately west of the bend in the eastern portion of the FLC near the Summerdance development. This mooring location will be used only in extreme weather events (hurricanes), but will otherwise remain vacant during normal waterway operations. The spaces are located in front of various applicants’ properties. Each applicant agrees that a condition of any slip permit issued by the USACE shall be that such applicant construct, at its expense and prior to putting any slip in use and prior to development of the applicant’s land pursuant to any USACE permit, the mooring facility(ies) in front of such applicant’s property. All of these will be land-based or wave-attenuator based facilities. Design specifications for the secondary mooring land-based and wave attenuator-development facilities will be prepared subject to the reasonable approval of the USACE and the cities of Gulf Shores and Orange Beach. Mooring Facilities Maintenance The applicants and the City of Gulf Shores will coordinate a permanent assessment program to fund the City’s ongoing routine maintenance of the mooring facilities. The applicants acknowledge that no construction shall be conducted pursuant to any slip permit until such a maintenance program is provided. The maintenance program shall not relieve from liability or responsibility any person, including any commercial or recreational boater, who damages any mooring facility or who would otherwise be liable or responsible for repair under applicable law. The maintenance program will be coordinated with the USACE. 2.4.3 Design and Use Conditions to any Permit Each applicant agrees that any slip permit issued to it will contain the USACE’s customary conditions, the condition for Secondary Use mooring facilities as aforesaid, and the following: (A) (B) (C) (D) (E) (F) (G) Except for the aforesaid mooring facilities, no permanent structure shall be permitted within the 500 foot right-of-way that comprises the GIWW. Marina entrances shall be sited and designed to minimize interference with bridges and marine traffic near curves in the GIWW. Marina entrances will be designed to optimize visibility for entering and exiting marine traffic. Covenants will be recorded prohibiting the operation or wet storage of personal watercraft within or from any marina. Only lighting approved by the USACE will be installed on the shoreline in order to reduce interference with nighttime marine traffic. Only barge-friendly bank stabilization will be permitted, subject to the approval of the USACE. All slip owners or users shall be required, as a condition to such ownership or usage, to participate in the GIWW boater educational program referenced in Section 2.4.7 below. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-45 Draft Environmental Impact Statement 1 2 Figure 21. Proposed Developments and Mooring Locations Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-46 Draft Environmental Impact Statement 1 2 3 4 2.4.4 5 6 7 8 2.4.5 9 10 11 12 13 2.4.6 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 Signage on FLC The Cities of Gulf Shores and Orange Beach will work with the applicants, USACE, and USCG to develop and locate appropriate signage as safety necessitates. The City will assess the applicants proportionately for the costs of this signage project. Map for Commercial Operators The Cities of Gulf Shores and Orange Beach will develop a map of all development sites on the FLC and provide those to commercial operators of the FLC. The Cities of Gulf Shores and Orange Beach will assess the applicants proportionately for the costs of this map project. Marine Police The applicants will coordinate with the City of Gulf Shores for the establishment of a marine police division in order to provide a dedicated law enforcement presence on the GIWW within the City of Gulf Shores municipal limits. The City of Gulf Shores will assess the applicants proportionately for a reasonable portion of the cost of establishing this division. 2.4.7 Boater Education The marine police division will develop a GIWW boater education program to include maps, radio usage, and the “Lifelines” brochure. The City will assess the applicants for a reasonable portion of the cost of this program. 2.4.8 City’s Overhead This Agreement contemplates active participation by the Cities of Gulf Shores and Orange Beach in the implementation of the mitigation plan. The applicants and the Cities of Gulf Shores and Orange Beach will agree on a formula to calculate the administrative expenses attributable to the Cities of Gulf Shores and Orange Beach involvement in this plan, and the Cities of Gulf Shores and Orange Beach will assess the applicants proportionately the amount of such administrative expenses. 2.4.9 Impact Fee Credits This Agreement states that the City will assess the applicants for the construction of the Primary Use facilities as aforesaid, for maintenance of all of the mooring facilities, for a reasonable share of the establishment of the Marine Police Division, and for certain other expenses. This assessment program will be defined and enacted prior to March 15, 2009, in cooperation with the applicants, but an underlying principle is that all sums paid by the applicants pursuant to this Agreement shall be, to the extent permitted by applicable law, deemed credits against impact fees otherwise payable for any development on the applicants’ land included in the EIS. 2.4.10 Assessments Each applicant could delegate responsibility for future assessments to any subsequently established property owners association, slip owner or leaseholder, or other responsible entity(ies). The Cities of Gulf Shores and Orange Beach shall have the power to lien the land of applicants to enforce the assessments, and liability for these assessments shall run with the said land. In lieu of assessments or in addition to assessments, the Cities of Gulf Shores and Orange Beach could create a special taxation district or employ any other fair and legal arrangement consistent with the objectives and principles set forth in this Agreement in order to obtain the funding required by this Agreement. 2.4.11 Miscellaneous Legal Principles No third party beneficiaries are intended by the parties to this Agreement. No party hereto, including the Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-47 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 Cities of Gulf Shores and Orange Beach, assumes any responsibility for consequential damages that could arise from such party's failure to discharge its obligations hereunder. The consent of other applicants to modifications of any USACE permit of another applicant shall not be required as long as such modifications do not impose any burden on such other applicants. The captions in this Agreement are for convenient reference only and shall not be used to interpret this Agreement. This Agreement could be executed in counterparts, which shall be taken together and construed as one agreement. Electronic or telecopied signatures shall have the same impact as original signatures. This Agreement contains the entire understanding of the parties. 2.4.12 Savings Clause 9 10 11 12 13 14 15 16 17 18 19 20 21 22 The applicants recognize that implementing the mitigation plan will likely involve details not addressed in this Agreement, because such details are not specifically anticipated at this time, because though anticipated, the means to best address the details are not yet known or agreed to, or because such details are beyond the scope of this Agreement. The applicants also recognize that the Cities of Gulf Shores and Orange Beach’s participation has been informally and unofficially approved only and is subject to legal and formal review by the Cities of Gulf Shores and Orange Beach and its counsel. However, the applicants explicitly affirm their intention that this Agreement be binding and that questions of interpretation or questions of details not addressed in this Agreement shall be resolved in order to give full impact to the intentions and objectives apparent from this Agreement. The applicants further agree that should any provision in this Agreement not be reasonably susceptible of being given full impact due to legal or other limitations not within the applicants’ reasonable control, the applicants will not unreasonably withhold their consent to any amendment to this Agreement that would enable the intentions and objectives apparent from this Agreement to be met. 23 2.5 ADDITIONAL MITIGATION/MANAGEMENT MEASURES 24 25 26 27 28 29 30 31 2.5.1 32 33 34 35 36 37 Regulated Navigation Area As described in Section 2.4, the applicants and cities of Gulf Shores and Orange Beach will implement a mitigation plan and management options to increase safety and minimize impacts of recreational boat traffic on commercial barge operations. In addition to these measures, the USCG may implement independent regulatory changes with respect to safety, security, and navigation under 33 CFR 165 (Regulated Navigation Areas and Limited Access Areas). These regulatory changes would only be implemented if the USCG determines that the mitigation plan and management options do not provide sufficient safeguards for recreational users and minimum impacts to commercial barge operations. 2.5.2 Hazardous Cargo Operation The USCG will coordinate with the USACE and cities of Gulf Shores and Orange Beach to develop a plan and procedures with respect to hazardous cargoes that will traverse the FLC. Maritime security issues with these cargoes may occur due to the close proximity to medium density populations along the waterway. The result of this coordination effort will protect the public and ensure safe operations in the waterway. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 2-48 Draft Environmental Impact Statement 1 3.0 AFFECTED ENVIRONMENT 2 3.1 INTRODUCTION 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 3.1.1 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 3.1.2 43 44 45 Regional Geographic Setting and Location The FLC portion of the GIWW is in southern Baldwin County, Alabama, and lies within the city limits of Gulf Shores and Orange Beach, Alabama. The waterway extends from Oyster Bay in the west to Wolf Bay in the east (Mile Marker 151 to Mile Marker 160) and is approximately 2 miles inland of the Gulf of Mexico beach coastline. The authorized channel dimensions of the FLC are 125 feet wide by 12 feet deep, which the USACE maintains for commercial barge traffic operations. The USACE holds easements fronting the majority of the FLC and maintains disposal areas for federal channel maintenance dredging. The commercial tonnage transported through the FLC each year provides the basis for federal funds to maintain the authorized depth. Historically, the property fronting the FLC has been developed for light-industrial use to support commercial waterway traffic. The southern shoreline of the waterway supports single-family residences, and a condominium marina complex is on the northwest shoreline in Oyster Bay. The majority of the FLC was rezoned from single-family residential or light-industrial use to marina resort in order to encourage urban-scale waterfront development. Overview and History Baldwin County, Alabama, was formed December 21, 1809, and named for Abraham Baldwin. Spain, France, England, the Confederacy, and the United States have all ruled over Baldwin County. In 1868 the county seat was moved to Daphne from its previous location at McIntosh Bluff near the Tombigbee River. In 1901 it was moved again to its present location in Bay Minette. Much of Baldwin County was settled by Greeks, Italians, Germans, French, and Swedes, mainly from Midwestern states. Historical agricultural practices in the region are not fully known but are assumed to consist of crops grown by Native Americans, which include corn, beans, pumpkins, and melons. Hunting and fishing were also predominant sources of food for Native Americans. As settlers moved into the area, they continued to practice agriculture similar to the Native Americans but also cultivated peas, potatoes, rice, and cotton. In 1918 agriculture began to develop rapidly in the southern part of Baldwin County, and other crops including lemons, grapefruits, and Satsuma oranges are still being cultivated in this area. Timber and wood products have comprised a large portion of the county’s income since 1900. Principal wood products include pulpwood, saw logs, veneer logs, poles and piling, fence posts, and firewood. Industrial production has never been predominant in lower Baldwin County, with most industry in this region located in or near Mobile and Pensacola. Over the past 20 years, the cities of Gulf Shores and Orange Beach have experienced an increase in population because of the area being developed and marketed as a tourist destination. From 1990 to 2000, permanent population in Gulf Shores increased 50 percent, and population in Orange Beach increased 68 percent. Seasonal population in Gulf Shores and Orange Beach were expected to increase approximately 30 percent by 2008. Tourism has become a dominant economic driver for Gulf Shores and Orange Beach. As of 2000, arts, entertainment, recreation, accommodation, and food service made up more than 20 percent of the economy in lower Baldwin County. 3.1.3 Climate Baldwin County has a humid, nearly subtropical climate with long, hot summers and short, mild winters. Because of its location near the Gulf of Mexico, Baldwin County’s climate is oceanic, which is generally Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-1 Draft Environmental Impact Statement 1 2 3 4 5 6 7 less extreme in temperature. The range in temperature between summer and winter is less than 30 degrees. Average temperature in lower Baldwin County, is 65 degrees in winter and 90 degrees in summer. Average annual rainfall in this region is 64 inches, with the least amount of rainfall occurring in the fall. Snowfall is rare in Baldwin County, but there are occasional short periods of subfreezing temperatures that are accompanied by frost. The region is also subject to impacts from tropical storms; most recently, Hurricane Ivan in 2004 and Hurricane Katrina in 2005. 8 3.2 LAND USE AND LAND COVER 9 10 11 12 13 14 15 16 17 18 Land use refers to human use of the land for economic production (residential, commercial, industrial, recreational, or other purposes) and for natural resource protection, and it generally describes what is practiced, permitted, or planned on the land. Land cover, an increasingly important attribute of land use, describes what is physically on the ground. It is defined as the type of material that covers the earth’s surface at a specific location at a specific time. For example, the land use in an area might be cropland, but the land cover at a specific location within the area might be an agricultural crop, bare soil, grass, or trees. Similarly, in an area used for single-family residences, the land cover at a specific location might be concrete, grass, or trees. Furthermore, land cover can change dramatically in a short period of time while land use remains the same. The following sections address land use and land cover immediately adjacent to the FLC. 19 20 21 22 23 24 25 26 27 28 29 30 In 1993 the South Alabama Regional Planning Commission (SARPC) conducted a land use survey to determine how the land was being used in Baldwin County (SARPC 1993). Existing land use in 1993 showed that less than 5 percent of the total area in Baldwin County was developed. Approximately 68 percent of the land use was for resource production and extraction (forestry and agriculture), 16 percent was wetlands, 6 percent was vacant, and 4 percent was open water. Changes in land use trends over the past 20 years include (1) larger residential lot size; (2) reduced coverage on industrial parcels; (3) organizing related activities into efficient commercial, medial, and industrial type complexes; (4) developing shopping centers at strategic locations with provisions for ample off-street parking; and (5) securing land for open space, parks, and other recreational purposes. These changes reflect the increased reliance on the automobile as the principal mode of transportation, higher standards of living, and changing concepts in regard to what is necessary for one’s living enjoyment (SARPC 1993). 31 32 33 34 35 36 37 38 39 40 41 42 3.2.1 3.2.2 Land Use Trends Existing Land Use/Land Cover The existing land use at the proposed project sites consists of undeveloped, upland pine habitat and, in some areas, narrow marsh fringe along the northern shoreline of the FLC. The upland vegetative community is dominated by longleaf pine (Pinus palustris), slash pine (Pinus elliottii), live oak (Quercus virginiana), water oak (Quercus nigra), sweetbay (Magnolia virginiana), wax myrtle (Myrica cerifera), yaupon (Ilex vomitoria), and tallow tree (Triadica sebifera). The narrow marsh fringe consists primarily of sawgrass (Cladium jamaicense) and black needle rush (Juncus roemerianus). The proposed project locations have been historically undeveloped, but some of the locations along the northern shoreline of the FLC have been historically disturbed by USACE construction and maintenance of the waterway. Specifically, some areas have been used for the confined and unconfined disposal of dredged material for over 60 years. These disturbed areas are characterized by early succession shrub and herbaceous species. Figure 22 identifies the existing land use/land cover for areas in the vicinity of the FLC. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-2 Draft Environmental Impact Statement 1 2 Figure 22. Land Use and Land Cover Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-3 Draft Environmental Impact Statement 1 2 3 4 5 6 Land use adjacent to the proposed project locations consists of a mix of residential and commercial development, greenspace, and undeveloped property. Property along the southern shoreline of the FLC consists of single-family residences, commercial businesses, recreational parks, and undeveloped property. West of S.R. 59, property north of the proposed project locations consists of undeveloped upland pine habitat. East of S.R. 59, property north of the proposed projects includes Jack Edwards Airport, commercial fishery ponds, residential housing, and undeveloped upland pine habitat. 3.2.3 GIS Data 7 8 9 10 11 12 13 14 The cities of Gulf Shores and Orange Beach occupy approximately 80,350 acres of Baldwin County. Geographic Information System (GIS) land use coverage of Baldwin County was selected to map current land use patterns in Gulf Shores and Orange Beach. On the basis of 2005 data, 10 land use types were identified in the vicinity of the FLC: agriculture/forest, community services, disturbed land, infrastructure, industrial, residential, retail/commercial, tourism services, undeveloped land, and water/wetlands (Table 8.) 15 Table 8. Gulf Shores and Orange Beach Land Use Types Land use type Water/Wetlands Agriculture/Forest Residential Community Services Infrastructure Disturbed Land Undeveloped Land Retail/Commercial Tourism Services Industrial Acres 29,500 29,300 12,500 3,650 1,950 1,040 1,000 909 370 124 16 17 Source: Baldwin County 2005 18 19 20 21 3.2.3.1 Agriculture/Forest 22 23 24 25 26 27 28 29 30 Percentage 36.7 36.4 15.5 4.5 2.4 1.3 1.2 1.1 0.5 0.15 Land used for agriculture and forestry occupies approximately 29,300 acres (36.4 percent) of the Gulf Shores/Orange Beach area. Land cover includes pastures, row crops, aquaculture, pine savanna habitat, upland hardwood habitat, tree plantations, and upland shrub habitat. 3.2.3.2 Community Services Approximately 3,650 acres (4.5 percent) of the Gulf Shores/Orange Beach area are used for community services, such as schools, churches, hospitals, government offices, recreational facilities, and other city services. 3.2.3.3 Disturbed Land Disturbed land includes land cover that is exposed rock, borrow areas, spoil areas, and other types of impacted land. This type of land use occupies approximately 1,040 acres (1.3 percent) of the Gulf Shores/Orange Beach area. Many of the proposed project locations fall within this land use category because of their use as storage areas for dredge material originating from FLC maintenance activities. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-4 Draft Environmental Impact Statement 1 2 3 4 3.2.3.4 Infrastructure 5 6 7 8 3.2.3.5 Industrial 9 10 11 3.2.3.6 Residential 12 13 14 15 3.2.3.7 Retail/Commercial 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 Land used for infrastructure purposes covers approximately 1,950 acres (2.4 percent) of the Gulf Shores/Orange Beach area. Land cover types include roads, airports, wastewater treatment facilities, other utilities, and communication facilities. Industrial land use occupies approximately 124 acres (0.15 percent) of the Gulf Shores/Orange Beach area. Land cover types include oil and gas facilities, manufacturing facilities, food processing, and other light industry. Approximately 12,500 acres (15.5 percent) of the Gulf Shores/Orange Beach area are used for residential purposes, including single family homes, apartments, mobile homes, and condominiums. Retail and commercial land use occupies approximately 909 acres (1.1 percent) of the Gulf Shores/Orange Beach area. Land cover types include shopping centers, restaurants, convenience stores, warehouses, and other professional services. 3.2.3.8 Tourism Services Land used for tourism services covers approximately 370 acres (0.5 percent) of the Gulf Shores/Orange Beach area. Land cover types include museums, amusement parks, hotels, campgrounds, and travel trailer parks. 3.2.3.9 Undeveloped Land Approximately 1,000 acres (1.2 percent) of the Gulf Shores/Orange Beach area is undeveloped land, which includes undeveloped land within urban areas, inactive land with street patterns, and urban land in transition without activity. 3.2.3.10 Water and Wetlands Water and wetlands occupy approximately 29,500 acres (36.7 percent) of the Gulf Shores/Orange Beach area. Land cover includes lakes, bays, swamps, tidal flats, marshes, and waterways. 3.2.4 Zoning The majority of the FLC is within the city limits of Gulf Shores and has been designated as the ICWIntracoastal Waterway District and Intracoastal Waterway District-East. The addition of this designation to the city’s Use Regulations for Business and Industrial districts was, “to create a unified and continuous development district which emphasized a maritime theme and which takes advantage of the natural beauty of the Intracoastal Waterway and its potential appeal as a premier living and tourist destination.” (Gulf Shores Ordinance No. 1276 dated 24 January 2005). According to Gulf Shore’s zoning map dated August 2006 (SARPC 2006), the proposed projects in Gulf Shores are in five zoning districts identified as R-1A (Low-Density Single-Family Residential), BTL (Tourist Lodging Sub Areas), BTB (Tourist Business Mixed Use Sub Areas), CZ (Conditional Zoning Sites), and ICW (Intracoastal Waterway). According to the Orange Beach zoning map dated June 2006 (Orange Beach 2006), the two proposed projects in Orange Beach are in zoning district Planned Unit Development (PUD). A PUD is defined as a type of ownership where individuals actually own the Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-5 Draft Environmental Impact Statement 1 2 building or unit they live in, but common areas are owned jointly with the other members of the development or association. 3 4 5 6 3.2.5 Land Use Plans Baldwin County and the cities of Gulf Shores and Orange Beach are currently updating their comprehensive land use plans and smaller studies have been conducted for Plash Island/Bon Secour River area, the Jack Edwards Airport, and the Fort Morgan Peninsula. 7 8 9 10 11 12 13 14 15 16 17 3.2.5.1 Baldwin County 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 3.2.5.2 Gulf Shores 36 37 38 39 40 41 42 43 44 45 46 Baldwin County is currently developing a Comprehensive Plan and Land Development Code Review, which builds upon the Strategic Plan 2006-2016 that was adopted on November 21, 2006 (Baldwin County Commissioners, 2006). According to the Baldwin County public workshop and review for the process, the Comprehensive Plan is a representation of what a community wants to be in the future, and serves as a guide for future growth. There are three important factors: geographical coverage, which will include all of the land area subject to regulatory jurisdiction; subject matter, which will include all subject matter related to the physical development of a community; and time horizon, which will provide a relatively long-term planning horizon (2025), with updates every 7 years. Notably, no coastal issues were established in the Strategic Plan; however there is a coastal management element in the Comprehensive Plan. The draft Comprehensive Plan has been submitted to the county for review. The city of Gulf Shores is updating its land use and zoning plans to accommodate for anticipated population growth. The hearing draft for the Gulf Shores Land Use Plan was released in January 2008, which the city prepared to guide decisions regarding land use, development, zoning and capital improvements. The draft document builds upon the Citywide Framework Plan (Bodenhamer 1999) and the Envision Gulf Shores Plan, a long-range plan adopted by the city after Hurricane Ivan (City of Gulf Shores, 2004). The Land Use Plan outlines a strategic development concept which enhances the physical organization of Gulf Shores with a series of activity centers that support, and are supported by, the city’s neighborhoods. Major elements of the concept include the following goals: use and build on the existing plans and studies for Gulf Shores; promote a compact development pattern within a well-defined city boundary; maintain and enhance the City’s character and sense of place as defined by its neighborhoods, districts, corridors, and edges; organize the city with a framework of transportation alternatives that balance access, mobility safety and emergency response; promote a variety of housing types and densities throughout the community; promote a safe, diverse, quality living environment; promote quality commercial design throughout the city and in all appropriate activity centers; and protect and enhance natural habitat/ecosystems within the developed landscape of Gulf Shores (KPS Group 2008). Relevant to the project area, the Intracoastal Waterway is proposed to be utilized as a mixed-use corridor dominated by waterfront-dependant uses. 3.2.5.3 Orange Beach Orange Beach has recognized that its Comprehensive Planning Program is an ongoing process. As part of the planning process, the City Council created Horizon 20/20, which was a visioning plan created from four special interest groups of citizens that consisted of Transportation; Land Use Zoning and Comprehensive Plan Update; Education, Culture and Quality of Life; and Environment. Horizon 20/20 was endorsed by the City Council and then used as a basis for the Community Preservation and Growth Management Plan (City of Orange Beach 2006). The Community Preservation and Growth Management Plan was adopted on November 14, 2006 and outlines a management vision to the year 2020. The plan identifies five neighborhood areas, each with specific mission statements. The Comprehensive Plan seeks to maintain and advance Orange Beach as a resort destination by achieving the following: promoting a city of neighborhoods featuring Traditional Neighborhood Design (TND) characteristics; improving Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-6 Draft Environmental Impact Statement 1 2 3 4 5 6 7 mobility by creating a pedestrian-oriented environment and establishing some form of mass transit; emphasizing water, fishing and nature related recreational activities; encouraging economic development to furnish diversity in employment opportunities; preserving the natural environmental beauty of the area; protecting and enhancing property values and marketability of homes, residences and commercial property through modifying existing zoning laws and adopting specific urban design criteria; and adopting guidelines to preserve and improve public health, safety, comfort, appearance, and protection against natural disasters within Orange Beach. 8 9 10 11 12 13 3.2.5.4 Fort Morgan Peninsula 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 3.2.5.5 Plash Island/Bon Secour River 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 The Fort Morgan Peninsula Resource Assessment provides a survey of the Fort Morgan Peninsula, including information on the natural characteristics, physical characteristics, and history of the area. The assessment recommended that a strategic planning process be implemented on the peninsula that would provide critical information that local decision makers could use to prepare for future growth and infrastructure needs. The culmination of this effort will be reported in the Fort Morgan Peninsula Study. The Plash Island/Bon Secour River Land Use Plan was commissioned in 2005 to assess the likely outcomes and impacts of growth and development in the Plash Island/Bon Secour River area (Jordan, Jones, & Goulding, 2005). Three buildout scenarios were prepared and assessed for the study area, including maximum, moderate, and low density scenarios. A set of standard conditions for annexation and rezoning applications were developed, as well as a set of measures for mitigating the potentially negative impacts of development in the area. According to the three buildout scenarios assessed in the Land Use Plan, traffic congestion would be the most significant impact resulting from growth and development in the area. Mitigation measures proposed include the following: adding left-hand turn lanes for the larger developments; improving the signalized intersection of C.R. 4 and C.R. 6 and Plash Road; improving the paving surface and shoulders of Plash Road; and creating several new street connections to increase route options. The Land Use Plan also identified new demands on the City Fire Department, Police Department, Libraries, Parks, and Schools, and water and sewer supply as other potential impacts; although modest system expansions could adequately address the new demands evaluated through the buildout scenarios. 3.2.5.6 Jack Edwards Airport Master Plan The Jack Edwards Airport Master Plan was prepared in 2006, for the purpose of determining the aviation needs of the Jack Edwards Airport and its service area for the next 20 years (Counts 2008). Several categories were analyzed to evaluate future aviation needs in the Master Plan, including: Airport Inventory, Aviation Demand Forecasts, Demand/Capacity Analysis, Facility Requirements, Land Use Analysis, Environmental Overview, Airport Layout Plans, and Capital Improvements Program Cost Estimates. While the level of analysis of the Master Plan in each of these areas is too detailed for a complete breakdown here, a summary of the major findings follow: • Aviation Demand Forecasts: Current data indicates that the demand for air transportation will likely warrant the inception of scheduled air carrier service in the near future. • Demand/Capacity Analysis: With its current configurations, the airport has an annual service volume of 230,000 annual operations, with a peak hour capacity of approximately 98 operations. • Facility Requirements: Many facilities would need to be expanded or added to accommodate the growth predicated for the time frame. This includes the construction of an access road from Cotton Creek Drive, a commuter terminal, commuter automobile parking, taxiways, and an airport traffic control tower. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-7 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 • • • • Land Use Analysis: Expand the Airport Overlay District boundary to include the area within 65 day-night sound level (DNL) noise contour projected for 2015, to help ensure that future development in the Airport vicinity will be required to meet noise attenuation construction standards. Environmental Overview: No significant impacts were identified, except for wetlands, as more detailed information about improvements is required for jurisdictional determination. Airport Layout Plans: Shows anticipated phased 5, 10 and 20 year plan of proposed development. Capital Improvements Program Cost Estimates: The total cost estimate for the planning period is $37,491,984. Of this total, $21,806,285 would be Federal funding; $573,850 state; $1,923,850 local; and $12,348,000 private funding. The conclusion of the Master Plan is that a majority of the existing facilities at the Jack Edwards Airport are capable of meeting the forecasted demand throughout the planning period; however, with the continued growth in the area and air traffic, some facilities will need to be improved or expanded in order to adequately service airport patrons. Table 9 shows the General Aviation Forecasts Summary of Jack Edwards Airport 2005-2025. Table 9. General Aviation Forecasts Summary of Jack Edwards Airport 2005-2025 Forecast by planning period Category 2005 2010 2015 2020 2025 110 151 185 226 259 91,277 115,942 130,902 148,092 162,997 Peak Hour Pilots/Passengers 48 58 65 74 81 Local Operations 5,125 6,133 6,924 7,834 8,622 Itinerant Operations 74,600 89,689 101,260 114,557 126,087 Annual General Aviation Operations 79,725 95,822 108,184 122,391 134,709 40 48 54 61 67 Based Aircraft Annual General Aviation Pilots/Passengers Peak Hour Operations 20 21 22 3.3 WATER RESOURCES AND WATER QUALITY 23 3.3.1 24 25 26 27 28 3.3.1.1 Watershed Description Watershed Characterization The FLC is in Baldwin County, Alabama, with a portion of the drainage area in the cities of Gulf Shores and Orange Beach. The FLC is made up of two waterbody Hydrologic Unit Codes (HUCs), as assigned by the U.S. Geological Survey (USGS). The location of each HUC is described in Table 10. The total watershed area discharging directly to the federally designated FLC is 25 square miles. Located along the Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-8 Draft Environmental Impact Statement 1 2 3 Gulf of Mexico, land use activities in the FLC watershed are dominated by forested and residential areas with some pasture, cropland, and wetlands. 4 Table 10. Foley Land Cut Hydrologic Unit Codes Waterbody ID (name) AL 03160205-070_01 (ICWW) AL 03140107-040_01 (ICWW) Use classification Fish and Wildlife Fish and Wildlife Downstream/upstream location Oyster Bay/Alabama S.R. 59 Alabama S.R. 59/Wolf Bay 5 6 7 8 9 10 11 12 3.3.1.2 Topography The FLC watershed falls in three Level IV ecoregions: Southern pine plains and hills, Gulf Coast flatwoods, and Gulf Barrier Islands and coastal marshes (Griffith et al. 2001). Topography in the watershed from Wolf Bay to Bon Secour Bay ranges from 100 feet above sea level in the headwaters of the Wolf Bay watershed to sea level in the marshes surrounding Oyster Bay. Figure 23 illustrates the topography of the watershed. National Elevation Dataset (feet) -10 - 10 10 - 15 15 - 20 20 - 30 N 30 - 40 40 - 60 60 - 80 80 - 100 100 - 120 1 0 1 2 Miles Wolf Bay Mobile Bay La Li ttle 13 14 goon Gulf of Mexico Figure 23. Watershed Topography from Wolf Bay to Bon Secour Bay 15 16 17 18 19 20 3.3.1.3 Hydrodynamics Data in the FLC to quantify water surface elevation, salinity, and velocity through the waterway has been collected over short periods, as grab samples, or in profiles of the water column. If available, these data are used to quantify hydrodynamics, or water transport, in the waterway. A dye study was conducted of the waterway in the early 1980s for the purpose of developing a hydrodynamic and water quality model Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-9 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 (Tetra Tech, Inc. 1984). The report observed that the FLC between Wolf Bay and Bon Secour Bay is subject to rapid flushing, and that the net flow is toward the west. Since this study, the GIWW has been deepened by dredge operations for commercial navigation purposes. Currently, the waterway’s average depth is approximately 13 feet, 7 feet deeper than the 1984 study. In 2007, the ADEM collected cross sectional flow and velocity measurements at various points along the GIWW from Wolf Bay to Bon Secour Bay. 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 3.3.1.4 Water Quality Standards 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 The tributaries discharging directly to the FLC are first-order streams that drain small areas and receive salt water intrusion from the GIWW. In the FLC, salinity measured since 1996, ranges from 17 to less than 5 parts per thousand (ppt). For comparison purposes, salinity in the ocean is 35 ppt. Alabama has designated the use classification of the FLC from Oyster Bay to Wolf Bay as “Fish and Wildlife”. This use classification requires that in coastal waters, surface DO concentrations should not be less than 5 milligrams per liter (mg/L), except where natural phenomena cause the concentration to be reduced. In estuaries and tidal tributaries, DO concentrations may not be less than 5 mg/L, except in dystrophic waters or where natural conditions cause the concentration to be depressed. DO should be collected at a depth of 5 feet in waters 10 feet or deeper. The bacterial quality of water is acceptable when no source of dangerous pollution has been identified in samples by the health authorities and when the geometric mean fecal coliform density does not exceed 100 counts/100 milliliters (mL) in June through September in coastal waters and 200 counts/100 mL in other waters. Turbidity may not be other than the natural origin that will cause the substantial visible contrast with the natural appearance of waters or interfere with any beneficial uses. The turbidity cannot exceed 50 Nephelometric units above background in any case (ADEM 2000). 3.3.2 Hydrogeology/Groundwater Alabama is divided into five groundwater provinces: Coastal Plain, Piedmont Upland, Valley and Ridge, Cumberland Plateau, and Highland Rim. The Gulf Shores/Orange Beach region is in the Coastal Plain province. The southern region of Alabama including Franklin and Marion Counties in the northwest section of the state forms the Coastal Plain province. Sediments such as interlayered sand, gravel, clay, chalk, and limestone compose the Coastal Plain province and were deposited in shallow-marine environments in the Cretaceous (144–65 million years ago) to late Tertiary period (65–2 million years ago), making them the youngest groundwater sediments in Alabama. Aquifers in or near Gulf Shores/Orange Beach region are part of the Citronelle Formation. The Citronelle Formation consists of non-marine Pliocene (5.4–2.4 million years ago) sediments, mostly yellow and red sands and clays, occurring near the seaward margin of the Coastal Plain between westernmost Florida and eastern Texas. In this area, groundwater flows from north to south and to south-southwest (USGS 2001). Availability of groundwater in the Coastal Plain province of Alabama is relatively high, with some wells yielding up to several thousand gallons per minute (gpm). The northern section of the Coastal Plain province is composed of rock layers too thin to store large quantities of water; therefore, groundwater in this area of the Coastal Plain is the lowest. Consumption of groundwater in the Coastal Plain province is also very high, because of a high irrigation demand for agricultural use near Gulf Shores and Orange Beach. In recent years, the abundant supply of groundwater in this area of the state has slightly declined because of increasing population and economic development in or near Baldwin County. Approximately 27 of the 36 southern counties in Alabama are completely dependent on groundwater for their water supply. Rainwater contributes 6 percent to groundwater recharge, as well as other natural occurrences, but Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-10 Draft Environmental Impact Statement 1 2 there is concern that groundwater is being pumped faster than its recharge rate, which suggests that there will be less available groundwater in the future. 3 3.3.3 4 5 6 7 8 9 3.3.3.1 Pollutant Loadings 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 Water Quality Potential pollutant loadings to the FLC come from various sources, including the following: • Watershed runoff from the surrounding watershed (i.e., land use activities in the watershed) • Watershed runoff from land use activities adjacent to the FLC (i.e., marina development) • Permitted point source discharges to the FLC and surrounding waterbodies • Recreational and commercial boating activities in the FLC and surrounding waterbodies 3.3.3.1.1 Watershed Loadings The watershed surrounding the FLC was delineated to include Wolf Bay watershed to the east and Bon Secour Bay to the west. There are no major tributaries that contribute directly to the 29-square-mile area discharging directly to the FLC and Oyster Bay. The Wolf Bay watershed to the east of the FLC covers 59 square miles. The Bon Secour Bay watershed west of the FLC covers 31 square miles. A watershed model was developed to determine pollutant loadings of total nitrogen, total phosphorus, and fecal coliform bacteria from Wolf Bay west to Bon Secour Bay. The modeling methodology and assumptions are discussed in Appendix S. Land use activities were determined using the USGS National Land Cover Dataset (NLCD) for 2001 to establish watershed loadings. Land use for the total delineated area from Wolf Bay to Bon Secour Bay is presented in Figure 24. Forest activities are prominent throughout the basin. Cropland and pasture make up a larger portion of the activities in the larger basin than areas surrounding the FLC. Residential activities from Gulf Shores dominate the areas discharging directly to the waterway. Wetlands 6% Urban/Residential 17% Barren 0% Cropland 22% StripMining 0% Pasture 20% Forest 35% 25 26 Figure 24. Land use activities from Wolf Bay to Bon Secour Bay along the FLC 27 28 29 The watershed was delineated to establish watershed loads and assess their influence on water quality in the GIWW. The FLC and Oyster Bay drainage areas were delineated into five areas to quantify loads to Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-11 Draft Environmental Impact Statement 1 2 3 4 the eastern mouth of the FLC, in three sections along the GIWW, and into an area draining to the western mouth of the FLC and Oyster Bay. The average annual watershed load from model results from 2001– 2005 for 5-day biological oxygen demand (BOD), total nitrogen, total phosphorus, and fecal coliform bacteria are presented in Table 11. Figure 25 illustrates the delineated areas listed in Table 11. 5 6 7 Table 11. Average annual loads for 5-day BOD, total nitrogen, total phosphorus, and fecal coliform based on model results from 2001-2005 Watershed Bon Secour Bay Mobile Bay Side Oyster Bay Foley Land Cut Intracoastal 1 Intracoastal 2 Intracoastal 3 FLC East Mouth Wolf Bay East of Wolf Bay BOD 5-day (tons/year) Total nitrogen (tons/year) 319 3 31 345 3 28 1 13 30 17 344 16 1 13 26 15 301 16 Fecal coliform geomean (counts/100 mL) 16 <1 <1 Total phosphorus (tons/year) 108 1 6 0.1 1 4 3 79 3 1 <1 <1 <1 2 <1 8 9 Subbasins Bon Secour Bay Mobile Bay Side Oyster Bay Intracoastal 1 N Intracoastal 2 Intracoastal 3 East Mouth Wolf Bay East of Wolf Bay 1 0 1 2 Miles Wolf Bay Mobile Bay o Lago Little 10 11 n Gulf of Mexico Figure 25. Subbasins delineated for watershed modeling Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-12 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 3.3.3.1.2 9 Table 12. Water Pollution Control Plant Discharges AL0049042 AL0055841 4 10 11 12 13 14 15 16 DO = dissolved oxygen WWTP = wastewater treatment plant mgd = million gallons per day BOD5 = 5-day biological oxygen demand TKN = total Kjeldahl nitrogen Cl = chlorine 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 3.3.3.1.3 6 6–9 Winter 19.5 / 13 45 / 30 6/4 Wk Avg/Monthly Avg Ammonia (mg/L) (mg/L) Wk Avg/Monthly Avg BOD5 Wk Avg/Monthly Avg TSS (mg/L) 45 / 30 1.5 / 1 Total residual Cl (mg/L) 6–9 Wk Avg/Monthly Avg Enterococci (#/100mL) 7 pH (standard units) Min DO (mg/L) 2 Summer 5.7 / 3.8 Winter 9/6 Wk Avg/Monthly Avg fecal coliform (#/100mL) Gulf Shores Water Reclamation Prior to 12/20/06 Summer 9/6 Wk Avg\/onthly Avg TKN (mg/L) Foley WWTP Flow (mgd) Facility NPDES permit NPDES Permitted Point Source Discharges National Pollutant Discharge Elimination System (NPDES) permits are issued for storm water runoff, industrial discharges, and municipal discharges. EPA’s Environfacts Warehouse of water discharge permits list three major discharges to surface waters from Wolf Bay east to Bon Secour Bay. The cities of Gulf Shores and Orange Beach have the only municipal wastewater NPDES permits to discharge directly to the FLC. Foley has a municipal wastewater NPDES permitted discharge to Wolf Creek in the Wolf Bay watershed. Table 12 provides permit information for each of these facilities. - Summer 2000 / 200 Winter 2000 / 1000 - - 4.5 / 3.0 - Summer 158 / 35 Winter 275 / - 1 Loadings from Boating Activities EPA’s Guidance to Control Nonpoint Source Pollution from Marinas and Recreational Boating (USEPA 2001) states that marinas are not reported by states to be major sources of nonpoint pollutants that contributes to poor water quality. Pollutants that can be generated at marinas include: • Nutrients • Pathogens – caused by pet waste • Sediment – runoff from parking lots and shoreline erosion • Fish waste – dockside fish cleaning • Petroleum hydrocarbons – fueling and oil dripping • Metals Boat maintenance is one potential source of increased metal concentrations. USEPA (1993) reports that the typical metals that can pollute water surrounding boating activities include: • Arsenic – used in paint pigments, pesticides, and wood preservatives • Zinc anodes – used to deter corrosion of metal hulls and engine parts • Copper and tin – biocides in anti-foulant paints • Others (iron, chrome) – used in construction of marinas and boats Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-13 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 The impact a marina has on the FLC is largely dependent on the actions of individuals; making the quantification of pollutant loadings difficult. The impact of pollutant loading is decreased by implementing best management practices (BMP). Installing detention ponds to collect storm water runoff could decrease nutrient loads and sediment to the FLC. Boat wakes are most likely to cause shoreline erosion where the shoreline has been altered and not stabilized (USEPA 2001), but slope stabilization measures would decrease the chance of erosion. 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 3.3.3.2 Water Quality 39 Illegal discharges from marine toilets can increase the fecal coliform counts in the FLC. The Alabama Clean Boating Act requires all marinas with customers that use marine sanitary devices (MSDs) with holding tanks to install boat sewage pump-out systems at their facility. Owners of vessels with onboard toilets are also required to install USCG-certified MSDs. To be permitted by the ADEM, flushing studies must be conducted by developments requesting marinas. Low concentrations of DO have been attributed to high BOD and poor flushing. ADEM confirms flushing studies to ensure DO will not be impaired. The 1985 EPA Coastal Marinas Assessment Handbook provides details to determine the impact of marinas on DO. Data collected in both HUC segments of the FLC in 1990 and 1991 indicated impairment of DO, and the FLC was placed on Alabama’s 305(b) report to EPA in 1992. Section 303(d) of the Clean Water Act requires states to identify water bodies that are not meeting water quality criteria applicable to their designated use classification in the State’s 305(b) report to EPA. An assessment of more recent data collected in 2003 found that the FLC was meeting the water quality criteria for the Fish and Wildlife use classification. EPA wrote a delisting document for the two segments to be removed from the 303(d) list (USEPA 2003). ADEM and EPA have collected data at more than 50 stations throughout the GIWW since 1990. Many of these monitoring projects were for ADEM’s Alabama Monitoring and Assessment Program, which selected sites randomly for single sampling events. Others were sampled for specific studies over a few selected days or months. ADEM also has trend monitoring stations that have been sampled monthly over several years. ADEM maintains a trend monitoring station in the FLC at the S.R. 59 Bridge. Monthly samples have been collected at this site since 2004. In addition, profile samples were collected as part of intensive basin monitoring in the state’s 5-year basin rotation monitoring plan. Table 13 lists the Trend Monitoring stations from Bon Secour Bay to Wolf Bay used to establish existing conditions in the watershed. Further discussion of how these data were used in modeling can be found in Appendix S. Table 13. ADEM trend monitoring stations Station BS1 IC1A WO1A Station name Bon Secour River at Oyster Bay Canal Intracoastal Waterway in Gulf Shores at S.R. 59 Wolf Creek at County Road 12 Foley Land Cut, Gulf Intracoastal Waterway, AL Latitude 30.308 30.279 30.374 Longitude -87.738 -87.687 -87.632 February 2009 3-14 Draft Environmental Impact Statement 1 3.4 INFRASTRUCTURE 2 3 4 5 6 7 8 3.4.1 Traffic and Transportation Transportation in and around the Gulf Shores/Orange Beach area is achieved mainly via airways, rail routes, public transits, waterways, and road networks. The following section describes these transportation resources and their importance to the surrounding communities. This section also describes the transportation system that would potentially be affected by future traffic and the proposed developments. The Region of Influence (ROI) evaluated for traffic and transportation includes the cities of Gulf Shores and Orange Beach, and is located in southern Baldwin County, Alabama. 3.4.1.1 Airports 9 10 11 12 13 The ROI includes two regional airports and a general aviation airport. Mobile Regional Airport and Pensacola Regional Airport both provide large scale air transport to the area, while Jack Edwards Airport is an executive facility that serves as a direct connection to the project area for the general aviation community. 14 3.4.1.1.1 15 16 17 18 19 20 21 22 23 24 25 26 Background The Mobile Regional Airport (KMOB) is one of two regional passenger airports in the region. The airport is operated by the Mobile Airport Authority (MAA) and is approximately 60 miles northwest of the FLC in Mobile, Alabama. The MAA was created in 1982 to own and operate the Mobile Regional Airport and the Brookley Field Complex, a noncommercial airport also located in Mobile. The Authority’s mission is to improve the quality of life in the Mobile community through economic development, air service development, and real estate development at the two facilities. The Authority is not a part of the city or county and receives no local taxes and, like most airports, must operate on generated income and Federal Grants. The MAA’s five board members are appointed by Mobile’s mayor, approved by the city council, and serve staggered six-year terms. Approximately 130 people are employed by the Authority at the two facilities. The regional airport’s facilities include a passenger terminal, one all-weather jet runway (8,521 linear feet (LF)), one general aviation runway (4,365 LF), and a helipad used for military purposes. 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 Commercial and Charter Operations Mobile Regional Airport is served by five airlines providing non-stop service to five cities in the Southeastern United States. There are approximately 23 daily departures from the airport. While the airport is the metropolitan area's only airport with scheduled airline service, MOB faces competition from nearby Pensacola Regional Airport (KPNS) and Gulfport-Biloxi International Airport (KGPT) - both only about a one-hour drive from Mobile via Interstate 10. A total of 638,953 people utilized the Mobile Regional Airport in 2005. Mobile Regional Airport The major carriers out of KMOB are Delta and Continental Airlines, according to the number of daily flights. Delta Airlines, which recently filed for Chapter 11 bankruptcy, dropped several flights in 2006. Continental has since added flights from the airport. As of January 2007, Delta offers six weekday flights to Atlanta’s Hartsfield-Jackson International Airport. Delta previously offered a nonstop flight to Cincinnati, Ohio, but that flight was discontinued from the regular schedule in December 2006. Continental Airlines offers seven flights to Houston, four flights to Charlotte, North Carolina, and three flights to Memphis, Tennessee, and Dallas/Fort Worth. On weekends, Continental offers flights to the previously mentioned cities at a reduced schedule. United Airlines previously served Mobile from its hubs in Chicago and Washington, DC, but the airline withdrew from the regional airport in September 2001 a few weeks after the terrorist attacks of September 11th. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-15 Draft Environmental Impact Statement 1 2 3 4 5 The three major airline alliances represented at KMOB include SkyTeam, Star Alliance, and Oneworld. All three U.S. members of SkyTeam fly from Mobile and represent approximately 70 percent of the airport’s schedule services. The passenger terminal at the KMOB includes a small book/magazine shop, several eateries, car rental shops, and a small arcade. It also includes handicap-accessible elevators and bathrooms. 6 7 8 9 10 Air Cargo Operations A former U.S. Air Force base located on Mobile Bay near downtown Mobile, Brookley Field (BFM), has been transformed into a leading industrial and trade complex. Built around a fully operational airfield with two runways, one 9,618 LF and one 7,800 LF, the complex offers transportation options that are rarely available for industrial tenants. 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 Military Operations European Aeronautic Defense and Space Company North America (EADS) named Mobile’s Brookley Complex the site for the KC-330 advanced tanker production facility and Airbus Engineering Center. The Airbus Engineering Center, co-located with the production facility, opened in 2007 with employment growing to around 150 workers. The Engineering Center supports “continuing engineering work on commercial Airbus models and military derivative aircraft-including the A330, A340 and A350 jetliners, as well as the KC-330 tanker,” commented EADS spokesperson, Guy Hicks. Together the facilities are expected to infuse $600 million and 1,100 jobs into the Mobile area economy. EADS currently has a strong presence in the Mobile area with their Casa Support Center headquartered at MOB. As part of the Homeland Security Deepwater Program, the Casa Support Center aids in providing aircraft technical support, training and maintenance for the Coast Guard’s CN-235 aircraft. The Casa Support Center is located next to the USCG Air Training Center where all CN-235 pilots are trained. EADS-CASA constructed a support and delivery facility at the Regional Airport for the CN-235 aircraft it sold to the USCG. EADS-CASA and partner Raytheon recently announced that they will build up to 145 small cargo aircraft for the Army and Air Force at Mobile Regional Airport if they win the contract. 28 3.4.1.1.2 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 Background The Pensacola Regional Airport (KPNS) is the second major regional passenger airport in the area. The regional airport is owned and operated by the City of Pensacola, Florida and is located approximately 30 miles east of the FLC. November 1938 marked the commencement of regular commercial service to the Pensacola Municipal Airport with National Airlines’ twin-engine Lockheed Electras. Although civilian air service continued, from 1942 to 1945, the U.S. Navy was granted command of the airport during World War II. Pensacola was the only municipal airport operating on the coast between New Orleans and Tallahassee for the few restricted commercial flights available. While under the lease of the Navy, the airport expanded to 1200 acres, two new runways were built and the existing runways were lengthened by 200 feet to 5,000 feet. Following the end of the war, control of the airport reverted back to the city. Technical improvements were completed in 1957, with runway approach lights and instrument landing systems being added to the facility. The increased viability of commercial transport in Pensacola led to significant occurrences in the 1960’s. The FAA reported in October 1963, that the Pensacola area had the densest air traffic in the United States, which included military, commercial carrier and general aviation activity. The terminal was renovated in 1964 and was identified as the 9th busiest airport in Florida in April 1965. Pensacola Regional Airport Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-16 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 An Eastern Airlines Boeing 727 was the first commercial jet ever to land at the airport on August 25, 1965. A new parking lot was completed in May 1966; and in June 1966 the United States Navy donated a Blue Angels’ F-11 Grumman Tiger which now serves as the primary landmark at the airport entrance. On February 27, 1968, National Airlines inaugurated the first jet service to Pensacola. The service offered direct jet flights to and from Washington, D.C. and New York with their Boeing 727. 22 23 24 25 26 Air Cargo Operations Commercial service to the airport is served from a multi-level 154,000-square foot passenger terminal building. A 14,500-square foot building serves the cargo needs of the airport, and a single Fixed Base Operator (FBO), multiple specialized air service operators, and corporate operators serve the needs of the general aviation community. 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 Military Operations Regarding military operations and support, the Pensacola area is home to the second largest military flight training complex in the world and includes airfields located on Naval Air Station (NAS) Pensacola, NAS Whiting Field, as well as many Naval Outlying Landing Facilities (NOLF’s). Airport facilities are used by the military in their instrument landing system (ILS) training and for touch-and-go operations. The primary airfield used by the military in the Pensacola area is Sherman Field (KNPA). Located approximately 15 miles east of Orange Beach on NAS Pensacola, Sherman Field has three runways, two that are 8000 LF, and one that is 7140 LF. The 1980's and 1990's witnessed a flurry of construction activity that transformed the Pensacola Municipal Airport into Pensacola Regional Airport. Dramatic changes occurred in nearly every aspect of the airport. The entrance to the airport was moved from College Boulevard to Airport Boulevard. The terminal was completely remodeled and completed in 1990. Additional gates, a second floor, increased baggage capacity and a parking garage with a skywalk to the concourse created a new and enjoyable experience for passengers. Runways were extended, a new control tower was dedicated in 1995, and general aviation operations were moved to the southeast area of the airport property. This preparation for future traffic is understandable; between 1989 and 1995 traffic at KPNS increased 52%. A multi-level garage was opened in September, 1999. Currently, KPNS is the busiest airport along the Gulf Coast from Tallahassee, FL to New Orleans, LA. The airport is currently served by Air Tran Airways, American Airlines, Continental Express, Continental Connection, Delta Airlines, Delta Connection, Northwest Airlines, and U.S. Airways Express. Combined, these airlines provide 45 daily flights to Atlanta, Chicago, Dallas/Fort Worth, Houston, Tampa, Orlando, Fort Lauderdale, Memphis, TN, and Charlotte, NC. NAS Pensacola is known as the “Cradle of Naval Aviation” and is home to the Navy’s Blue Angels flight demonstration squadron. In addition to the Blue Angels, the naval base is home to two other air training squadrons, the 2nd German Air Force training squadron and the NAS Pensacola Search and Rescue detachment. Sherman Field is home to over 130 primarily jet propelled aircraft and manages nearly 110,000 flight operations per year. NAS Pensacola is also home to the Naval Education and Training Command, the National Museum of Naval Aviation and the historic Fort Barrancas. NAS Whiting Field is located approximately 55 miles northeast of Orange Beach in Milton, FL. This facility is home to two airfields (KNSE and KNSZ) with a total of four asphalt runways (6000 LF) and 12 helipads. NAS Whiting Field is one of two primary pilot training bases the Navy utilizes to train student pilots. Primary flight training takes place on the northern-most field (KNES) while advanced helicopter training occurs on the southern-most airfield (KNDZ). Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-17 Draft Environmental Impact Statement 1 2 3 4 5 6 7 In addition to NAS Whiting Field, the Navy conducts primary flight and advanced helicopter training at the 12 NOLF’s found around the Pensacola area. Five of the NOLF’s are located just outside the FLC study area. Saufley and Bronson Fields are just across the state line in southwestern Escambia County, FL, while Wolf, Barin, and Summerdale Fields are located in the southern half of Baldwin County. Lying just to the north and east of Wolf Bay, Wolf Field is the closest NOLF to the study area (approximately 5 miles northeast of central Orange Beach). Barin Field is located approximately 8 miles northwest of Orange Beach along the Foley Beach Express. 3.4.1.1.3 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Jack Edwards Executive Airport Jack Edwards Airport (KJKA) is a general aviation facility owned and operated by the City of Gulf Shores. The airport is open to the public and located within the city limits of Gulf Shores, approximately three miles north of the City’s central business district off S.R. 59, also known as Gulf Shores Parkway. The airport consists of two asphalt runways, one nearly 7000 LF and the other just over 3500 LF. The southern boundary of the airport abuts some of the parcels located on the northern shoreline of the Intracoastal Waterway just east of S.R. 59. In fact, a clear zone for the shorter north-south runway extends across Mildred Casey Dr. (E. 27th Ave.) to the northern edge of the FLC. 26 3.4.1.2 Transit 27 28 29 30 31 32 3.4.1.2.1 Baldwin Rural Area Transportation System (BRATS) The Baldwin Rural Area Transportation System (BRATS) began providing rural public transportation service to the Baldwin County area in 1987. The BRATS services are based in Robertsdale, Alabama, a town that calls itself “the Hub” because of its central location, in essence, at the crossroads to all parts of the county. The BRATS has established its new facility and transfer point at this location. The facility has a waiting room and the property is shared with the county sheriff. 33 34 35 36 37 38 39 40 41 Operations The BRATS provides a variety of services that have been designed to meet the varying needs across the county. Using a total fleet of 52 vehicles, that include 40-foot buses, smaller cutaways, simulated trolleys, and dial-a-ride vans, BRATS provides flexible route transit, work/subscription service, dial-a-ride service, and special services. 42 43 44 45 Future Transit Plans The BRATS organization has grown from providing service to approximately 80,000 people in 1987 to 170,000 people currently. A significant portion of BRATS’s revenue – 82 percent – comes from nongovernmental sources. The BRATS receives some funding from Section 5311 through the ADOT, but the Jack Edwards was originally a NOLF for the NAS Pensacola and NAS Whiting Field. In 1977 under the Surplus Property Act of 1944 the U.S. Navy sold the land to the Alabama Dept. of Aeronautics. It was then that the original terminal building was constructed and the airport was named for Congressman Jack Edwards who was instrumental in the transfer of the property from the Federal government to the State of Alabama. In 1983 the City of Gulf Shores purchased the property from the state. Additional acreage was purchased. The new terminal building was built in 1998. The airport now includes 850 acres. In 1999 there were over 47,000 flights in and out of the airport. This figure is expected to reach 67,000 by 2010. The flexible route service includes work routes, medical and human service routes, as well as general public flexible routes that have east-west and north-south routes, meeting at the central transfer point and serving work, medical, human service, and shopping needs for the entire county. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-18 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 state does not have a large Section 5311 allocation. And the system has excellent support (monetary and other) from Baldwin County. Most of the revenue for the system comes from BRATS’s various programs and entrepreneurial efforts – services provided for employers such as selling bus seats; shuttles for community festivals and activities including the Shrimpfest and Arts and Crafts Festivals; transit for the community college; and special services for many human service agencies and private businesses. The director would like to have every Baldwin County organization with any transportation needs purchasing transportation from her system or providing financial support for services in place. 16 17 18 19 20 21 3.4.1.2.2 22 23 24 In Baldwin County, the highest number of common destinations are in the Cities of Bay Minette, Spanish Fort, Daphne, Loxley, Fairhope, Robertsdale, Foley, Gulf Shores and Orange Beach, with significant numbers in Elberta, Silverhill and Summerdale. As would be expected, this corresponds with the highest concentrations of transit dependent populations; however, BRATS is only able to provide limited transit services in these areas. This indicates that there could be a need for fixed route transit service along the eastern shore of Mobile Bay (Fairhope, Daphne, and Spanish Fort) and in South Baldwin County (Foley, Orange Beach and Gulf Shores). Mobile Bay Ferry Another form of transit provided near the study area is by ferry boat. The Mobile Bay Ferry Company offers daily ferry service across the Mobile Bay from Fort Morgan (Gulf Shores) to Dauphin Island. Figure 26 depicts the ferry crossing location. Figure 26. Mobile Bay Ferry Route Source: Hornblower Marine Services 25 Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-19 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 3.4.1.3 Ports 3.4.1.3.1 Alabama State Docks Alabama State Port Authority (ASPA) owns and operates the State of Alabama’s full service public seaport. The State Docks were first dedicated in 1928 on 4,000 acres of land located nearly 50 miles northwest of the FLC area. The ASPA’s transportation assets and deepwater terminals are served by five Class 1 railroads, two interstate highways (I-10 & I-65), air cargo terminal, and immediate access to intracoastal and inland waterways. The ASPA’s public seaport terminals offer modern wharves, warehouses, and port services for general cargo, container, bulk, and oversized cargoes between the state of Alabama and many worldwide destinations. The ASPA, in Fiscal Year 2005, reported over $85 million in revenues and employs nearly 600 team members. A study completed in 1995 by the University of Alabama concluded that the State Docks had a $3 billion economic impact statewide, generated approximately $467 million in state taxes, and generated 118,000 jobs statewide. The port’s main exports are coal, lumber, plywood, wood pulp, Oriented Standard Board (OSB), laminate, flooring, roll and cut paper, iron, steel, frozen poultry, soybeans, and chemicals. The ports primary imports are coal, aluminum, iron, steel, lumber, woodpulp, plywood, fence posts, veneers, roll and cut paper, and chemicals. Alabama is also home to the Mobile Alabama Cruise Terminal. The Holiday cruise ship, owned by Carnival Cruise Lines, has provided cruises to the western Caribbean from Mobile Bay since October 2004. Figure 27 shows an aerial view of the Holiday cruise ship parked at the Mobile Alabama Cruise Terminal. The terminal consists of 66,000 square foot terminal building and a 500 space parking area. The terminal is located 0.5 miles from I-10 and 6 miles from the I-65 and I-10 junction. 25 26 Figure 27. Holiday cruise ship parked at the Mobile Alabama Cruise Terminal Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-20 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 3.4.1.3.2 19 3.4.1.4 Roadways 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 3.4.1.4.1 Port of Pensacola The Port of Pensacola has evolved into an area leading deep-water port. The Port is located approximately 25 miles east of the FLC area. With eight deep-draft berths and more than 400,000 square feet of covered storage, the Port is located in the Pensacola Bay, 10 miles from the Gulf of Mexico through the Pensacola Bay pass. The 50-acre facility offers a Foreign Trade Zone, an Enterprise Zone, and stevedoring and marine terminal services for bulk, break-bulk and unitized freight. The Port of Pensacola is an enterprise department of the City of Pensacola and is governed by the Pensacola City Council. The port has easy access to Interstate I-110 to transport materials via tractor trailer directly to I-10. Additionally, materials could be imported and exported via Class I rail with a direct connection to the Port. Among the Port’s leading commodities are bagged agricultural products, cement, paper, aggregate, power plant and power generation equipment, animal feed and animal feed components, construction supplies and materials, and frozen cargo. The entrance to the main channel into Pensacola Bay is by the Caucus Channel. The channel is 500 feet wide at its seaward end and dredged to 33 feet in depth. The approach channel to the Port of Pensacola is 300 feet wide with a control depth of 35 feet, and intersects Pensacola Bay in a generally northeasterly direction. The GIWW intersects the Port’s entrance channel just north of Santa Rosa Island. The GIWW traverses the Gulf of Mexico from Brownsville, Texas to Ft. Meyers, Florida before connecting to the Atlantic Intracoastal Waterway via the Okeechobee Waterway. Background The roads and bridges that compose Alabama’s roadway network serve as the backbone of the state’s transportation system. Included with this statewide network are several roadway classifications including Interstate, Freeways/Expressways, Principal Arterial, Minor Arterial, Collector, and Local. While there are no limited access interstate highways or freeways in the immediate project area, the area includes each of the other listed classification types. The primary roadways within the study area include the following: • Alabama S.R. 59 (Gulf Shores Parkway) This four-lane, principal arterial highway is one of two major routes providing access from all areas north of the FLC. S.R. 59 extends north and intersects with I-10 and I-65 providing direct access to all parts of the county by vehicle. This road also bridges the FLC allowing north-south traffic to and from the beach area and is, therefore, the primary hurricane evacuation route for the Gulf Shores area. • Foley Beach Expressway Foley Beach Expressway is a four-lane, principal arterial highway that was recently constructed to provide direct access to Orange Beach from S.R. 59 while bypassing the cities of Foley and Gulf Shores. This road intersects with S.R. 59 north of Foley and crosses the GIWW via a toll bridge near the eastern end of the FLC before intersecting with Canal Road (S.R. 180). The Foley Beach Expressway was constructed not only to help alleviate congestion on S.R. 59 and S.R.182, but to also act as the primary hurricane evacuation route for the Orange Beach area. • Alabama S.R. 182 (Perdido Beach Boulevard/E. Beach Boulevard/W. Beach Boulevard) S.R. 182 is the primary road that stretches along the Gulf of Mexico’s coastline from the Alabama-Florida state line in Orange Beach to Gulf Shores where it terminates near the western end of Little Lagoon. East of S.R. 59, the road is a principal arterial highway and is four-lane, while west of S.R. 59, it is minor arterial road and eventually transitions from four Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-21 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 lanes to two lanes as the road approaches its terminal point. Most of the area’s resort condominiums and hotels are along the gulf on S.R. 182. • Alabama S.R. 180 (Canal Road/East 2nd Street/Fort Morgan Road) S.R. 180 generally runs along the southern side of the GIWW from Orange Beach through Gulf Shores, ending at Fort Morgan. This highway is two lanes, is classified as a collector, and provides access to most of the developed areas adjacent to the south side of the FLC west of S.R. 59 and east of the Foley Beach Express. • Alabama S.R. 161 S.R. 161 is a minor arterial that connects S.R. 182 to S.R. 180 in Orange Beach. The fourlane road is just west of Cotton Bayou, and as the only north-south road, it is part of the primary hurricane evacuation route for the Orange Beach area. • Baldwin County Road 4 (Oyster Bay Road) County Road 4 is a two-lane, collector road the traverses the northern shoreline of the FLC, west of S.R. 59. This road ends to the west at Oyster Bay on Bon Secour Bay. 3.4.1.4.2 Existing Traffic The ADOT collects data on the state roads every other year. Figure 28 demonstrates the 2001 Average Daily Traffic Volumes for the state roadways in the area. Using the Mobile Area Transportation Study Model Capacities by Functional Class (2006), the level of service was determined for the 2005 traffic volumes as part of the Orange Beach Community Preservation and Growth Management Plan (2006). The traffic counts from 1999 through 2005 for the state routes in the project area are shown in Table 14. Figure 28. 2001 Average Daily Traffic Volumes 29 Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-22 Draft Environmental Impact Statement 1 Table 14. Average Daily Traffic Volumes Average Daily Traffic Counts 2001 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 2003 2005 % Change 19992005 25% 2005 LOS S.R. 180 10,900 12,820 13,870 14,590 F West of S.R. 161 S.R. 180 4,480 4,820 5,370 5,450 17% A East of S.R. 161 18,130 17,610 18,720 18,680 3% A S.R. 182 West of S.R. 161 S.R. 182 16,280 17,980 18,770 18,740 13% B East of S.R. 161 S.R. 161 11,730 13,960 14,870 17,060 31% A 10,530 11,730 12,510 12,750 17% A S.R. 182 at Florida State Line 29,880 38,400 26,800 31,380 5% D S.R. 59 south of Intracoastal Waterway 1,100 C.R. 4 West of S.R. 59 Note: Existing Counts: Alabama Department of Transportation Traffic Count Maps 2005 LOS: Orange Beach Community Preservation and Growth Management Plan (2006) Roadway Capacity: Mobile Area Transportation Study Model Capacities by Functional Class (2006) 3.4.1.4.3 Existing Transportation Plan and Implementation Various transportation and growth plans have been completed for this area. This section provides recommendations for the area from those plans to address existing congestion and future growth that is anticipated. Statewide transportation planning is required by federal law under guidelines established by the Intermodal Surface Transportation Efficiency Act of 1991 (ISTEA). The state’s eligibility for federal transportation funding is dependent on compliance with the statewide transportation planning requirement. Federal funding is critical to the provision of transportation facilities and services that cannot be funded solely with state and local money. Numerous state roadway improvement projects have been completed in recent years and many more improvements are proposed. The following major roadway improvements are proposed in the Alabama Statewide Long Range Transportation Plan (2008) within the study area: • Fiscal Year 2008 Widening of S.R. 180 from Foley Beach Expressway to S.R. 161 in Orange Beach. • Fiscal Year 2009/2010 Widening of S.R. 180 from S.R. 59 in Gulf Shores to Foley Beach Expressway. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-23 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 More site specific data was gathered for the study area from the City of Orange Beach Community Preservation and Growth Management Plan (2006). Orange Beach has created a list of transportation priorities and recommendations. Specific recommendations relevant to the project area include: 19 20 21 22 23 24 25 26 27 28 29 3.4.1.4.4 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 Short-term Recommendations (1–5 years) • Extend the Foley Beach Expressway to Perdido Beach Blvd • Widen Canal Road from Foley Beach Express to S.R. 161 • Improve the intersection of S.R. 161 and Canal Road • Construct additional roadway drainage improvements • Implement street, bridge, and gateway beautification • Construct additional boat launches Long-term Recommendations (5–10 years) • Construction of the Wolf Bay Bridge • Develop a park and ride system • Implement a beach trolley • Complete the County Road 83 extension from I-10 to I-65 Existing Congestion S.R. 59 is the primary route for vehicular traffic to get from I-10 and I-65 and the resort areas of Orange Beach and Gulf Shores. As a result, this thoroughfare is heavily developed with commercial shopping areas and golf course communities, particularly from Foley south to Gulf Shores. The Foley Beach Expressway was constructed to alleviate congestion along this stretch of road by allowing travelers whose destination is Orange Beach to bypass Foley and Gulf Shores. Nevertheless, S.R. 59 has periods of congestion during the summer tourist season as beachgoers travel to and from the beach, shopping centers, and restaurants. Additionally, S.R. 59 becomes heavily congested when a hurricane evacuation is ordered for the south Baldwin County area. There are no other major sources of congestion in the immediate area of study. 3.4.1.4.5 Hurricane Evacuation There are four Hurricane Evacuation Zones in Baldwin County: Category 1-2 Zone, Category 3 Zone, Category 4 Zone, and Category 5 Zone. All residents south of the FLC, which is in the Category 1-2 Zone, are required to evacuate their residence for a Category 1 or 2 hurricane. Category 1 hurricanes usually have maximum winds of 95 mph. Shrubbery, trees, foliage, poorly constructed signs, piers, and mobile homes are subject to damage from a Category 1 hurricane. Category 2 hurricanes have maximum winds of 110 mph. Major damage from a Category 2 storm consists of destruction of mobile homes, destruction of poorly constructed signs, and destruction of roofing materials on buildings. Marinas will flood during a Category 2 hurricane. All residents in the Category 3 Zone, which extends north of the GIWW to Foley, Alabama, are required to evacuate for a Category 3 hurricane. Category 3 hurricanes have maximum winds of 130 mph and can cause extensive damage to roofing materials, windows, and doors of buildings. Category 3 hurricanes can also destroy mobile homes and can cause serious flooding along the coast. The proposed developments are in the Category 3 Evacuation Zone. All residents in the Category 4 Zone, which is south of U.S. Highway 90 between Loxley and Foley, are required to evacuate for a Category 4 hurricane. Category 4 hurricanes have maximum winds of 155 mph. Shrubs and trees are typically blown down and most street signs are damaged. Roofing materials, Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-24 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 windows, and doors receive extensive damage. Roofs on many residences or industrial buildings typically fail during a Category 4 hurricane. Lower floors of structures near the shore receive major damage from battering waves and floating debris. Beaches are subject to major erosion. 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 3.4.1.5 Commercial Waterway Traffic All residents south of I-10, which is between I-10 and U.S. Highway 90, are required to evacuate for a Category 5 hurricane. Category 5 storms have maximum winds of 155 mph. Roofs of buildings and all signs are damaged or destroyed and windows and doors of buildings are subject to extensive damage. Roofs on many residences and industrial buildings completely fail, and glass in windows and doors shatter because of wind capacity. Hurricane evacuation routes for the Gulf Shores/Orange Beach area are illustrated on Figure 29. The Institute of Water Resources (IWR) provides data on commercial traffic for specific segments of the GIWW, including the segment from Mobile, Alabama to Pensacola, Florida. The IWR’s statistics for the Mobile Bay to Pensacola segment separate the data into eastbound and westbound, commodity shipped, and type of vessel. A summary of the most recently reported IWR (2004) statistics is presented below. Data from the 2004 IWR commodity statistics show coal as the primary commodity shipped in the study area. Ingram Barge Lines transports the majority of the coal from Mobile Bay to the Smith and Crist power plants that are operated by Gulf Power in Florida. Petroleum and petroleum-related products represent other materials frequently shipped through the waterway. The 2004 IWR trips and tonnage statistics for the study area from 1973 to 2004 shows that the number of commercial trips varied year to year with no clear trend but generally fell between 11,000 and 15,000. An abnormally high value of 29,000 trips was recorded in 1986. While the number of trips has remained relatively constant, the quantity of material per trip has shown an overall increase from 1973 to 2004. This trend follows recent commercial shipping trends with increasing levels of tonnage, but fewer overall trips. The 2004 IWR statistics for trips and drafts for the Mobile Bay, Alabama to Pensacola, Florida, segment of the GIWW show that the number of eastbound trips nearly equals the westbound trips. The number of trips equals the number of tugs and barges reported in the waterway. The convention for the trip data means that a tug and barge combination with one tug and four barges gets reported as one trip for a tug and four trips for a barge; therefore, the precise number of tug and barge combinations passing through the waterway cannot be conclusively drawn from this data. A vessel traffic study conducted by Taylor Engineering on July 1 and 2, 2006 also provides data on commercial shipping observed during the study period. This study will be elaborated on in later sections. The Taylor Engineering (2006) traffic study recorded six- and seven-tug and barge combinations on the two study days. The traffic consisted of eight eastbound and five westbound tows with an average of two barges per tow. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-25 Draft Environmental Impact Statement 1 2 Figure 29. Hurricane Evacuation Routes Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-26 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 3.4.2 Utilities This section describes the utilities that would potentially be affected by the proposed action and alternatives. Utilities include water supply, wastewater, storm water, solid waste, hazardous waste, telecommunications and energy systems. Accordingly, this study evaluates the potential impacts of USACE permitted actions on the region’s utilities. The geographical region evaluated for utilities encompasses the FLC of the GIWW in Baldwin County, Alabama. 3.4.2.1 Water Supply Twelve municipalities, along with public and private water systems, provide treated water to residential, commercial, and industrial customers in Baldwin County. The inland and rural portions of the county, however, are largely without public water systems and rely on water associations, privately owned utilities, and individual wells. The water provided by the municipalities is available for residential, commercial, industrial, and agricultural use, including landscape irrigation, and it is delivered by a system of wells, water distribution piping, and water storage tanks (mostly elevated) that make up the water supply infrastructure of this coastal county. The current capacity of the primary sources of potable water in the project area, which consists of Gulf Shores Utilities and Orange Beach Water Authority, can be found below in Table 15. Gulf Shores Utilities is operating at 79% of capacity and Orange Beach Utilities at 48%. Both of these systems rely on groundwater as the sole source for drinking water. 20 21 Table 15. Potable Water Utilities Utility Gulf Shores Utilities Orange Beach Utilities 22 23 mgd – million gallons per day 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 3.4.2.1.1 Available capacity (mgd) 6.84 12.0 Peak usage (mgd) 5.4 5.8 Groundwater as a Source of Water Supply Groundwater is the predominant source of fresh water in coastal Alabama. There are 780 public water systems that serve an estimated 1,900,000 people from ground water sources. In fact, groundwater is the exclusive source of public water systems in southern Baldwin County. In addition to water withdrawn for public water supply, substantial quantities of ground water are withdrawn by agriculture, commercial and industrial private users. In the Ground Water Atlas of the United States, the USGS describes the most widely used aquifer in the coastal counties as the coastal lowland aquifer system (USGS 1990). The coastal lowland aquifer system extends west to the Rio Grande basin of Texas, east to the western part of the Florida panhandle, and north to merge with the Mississippi River Valley Alluvial Aquifer. To the south, the coastal lowland aquifer system extends into the Gulf of Mexico to the edge of the continental shelf. The aquifer contains saline water in most of its offshore locations. More than 90 years of increasing pumping rates have altered the direction that groundwater naturally flows. The natural direction of groundwater flowed from the water table to streams and rivers. As water table levels have fallen, the direction of flow has reversed, with water from the rivers and streams recharging the groundwater, along with coastal aquifers encountering saltwater contamination. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-27 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 In 1996 the USGS determined that the increased demand of ground water across the State of Alabama had reduced flow in rivers and lowered groundwater levels in some areas which caused saltwater intrusion into the coastal aquifer (USGS 2005). In a May 2000 report titled “Hydrogeology and Vulnerability to Contamination of Major Aquifers in Alabama: Area 13” prepared by the Geological Survey of Alabama in cooperation with the Alabama Department of Environmental Management, existing published data was revised and expanded to characterize vulnerability of groundwater to contamination. Area 13 classified the coastal areas as highly vulnerable to salt-water encroachment if pumping rates are excessive but did not outline what would fall into the excessive category; nor did it mention if the current consumptive use permit would fall into this scenario. Nearby Dauphin Island is has already begun treating saltwater intrusion from at least one of their wells by reverse osmosis to remove chlorides. Saltwater intrusion into wells has also been outlined as a potential problem for Baldwin County. The USGS began monitoring the aquifer in South Baldwin County daily in October 2006 (USGS 2008). Declines in water levels of the wells could eventually lead to increased pumping costs, or the need to deepen the wells to maintain supply. In the future groundwater withdrawal in the coastal counties could have to be restricted. Other options would be available, although at higher costs. Use of surface water, treatment of lower quality groundwater, and desalination are some of the alternative water sources that would possibly be viable options. 3.4.2.1.2 Gulf Shores Water System Potable water is supplied to the city of Gulf Shores through Gulf Shores Utilities. Figure 30 depicts the service area for the Gulf Shores Utilities. The Gulf Shores area has seen a steady increase in potable water usage in the last six years, as well as a consistent peak in water consumption during the summer tourist season. The first Waterworks Board in Gulf Shores was founded in 1967. In 1989, the water service and sewer service were combined to form Gulf Shores Utilities. The source of supply for drinking water in Gulf Shores is groundwater, which is pumped from two aquifers (A2 and A3 aquifers). The water is withdrawn from the ground by eight wells, ranging in depth from 200 to 535 feet. There are two wells with a pumping capacity of 1,000 gpm each; one well with pumping capacity of 750 gpm; and five wells with pumping capacity of 500 gpm each, for is a total of 5,250 gpm. During summer (from June to September), approximately 5 to 6 million gallons per day (MGD) are pumped out of the eight well system. This is the equivalent of 3,470 to 4,160 gpm. The groundwater is pumped to two Iron Removal Treatment Facilities, where it is treated with chlorination, fluoridation, corrosion control and filtration. Water Treatment Plant #1 has a treatment capacity of 2.88 MGD and a 2 million gallon (MG) tank that is kept full; the pumping capacity of this plant is 4.32 ,MGD. Water Treatment Plant #3 has a treatment capacity of 2.52 MGD and a pumping capacity of 2.52 MGD. In total, Gulf Shores Utilities is capable of providing the community with 4,750 gpm, or 6.84 MGD (Table 16). Gulf Shores Utilities also has 7.25 MG in storage in 7 storage tanks. In 2007, 3.3 MGD were distributed to customers by Gulf Shores Utilities with a summer peak production of 5.4 MGD. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-28 Draft Environmental Impact Statement 1 Table 16. Summary of City of Gulf Shores Water System Capacity Facility WTP # 1 WTP # 3 8 Wells 5 Elevated Storage Tanks 2 Ground Storage Tanks Capacity Treatment: 2.88 MGD – Pumping: 4.32 MGD Treatment: 2.52 MGD – Pumping: 2.52 MGD 7.56 MGD (2 wells: 1.44 MGD each, 1 well: 1.08 MGD, 5 wells: 0.72 MGD each) 3.25 MG 4.0 MG 2 3 4 Figure 30. Gulf Shores Utilities water service area 5 6 7 8 9 10 3.4.2.1.3 Orange Beach Water System The City of Orange Beach is supplied potable water through the Orange Beach Water Authority. Figure 31 depicts the service area for the Orange Beach Water Authority. The private Utility’s service area covers the eastern portion of the project area and abuts the Gulf State Park and the eastern edge of the Gulf Shores Utility Service area to the west. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-29 Draft Environmental Impact Statement 1 Figure 31. Orange Beach Water Authority Service Area 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 3.4.2.2 Wastewater This section focuses on the capacity of the wastewater treatment and collection facilities in southern Baldwin County that serve the project area. The public wastewater system consists of a network of pipes and lift stations that convey the wastewater to central treatment facilities. Once at the treatment facilities, the wastewater is treated to remove pollutants as per the NPDES requirements set forth by the ADEM and the USEPA. Wastewater customers who cannot connect to a public wastewater system generally employ package plants or septic tanks and drain fields. Package plants are small, self-contained wastewater treatment facilities built to serve a developed area, such as a subdivision or a school. Septic tanks and drain fields, typically installed at individual households, collect wastewater in an underground tank and slowly release the treated water to a drain field where it is absorbed and filtered by the surrounding soil. If septic tanks are properly designed, installed, operated, and maintained in appropriate soil and groundwater conditions, they can be very economical and efficient in treating wastewater. However, failing septic tanks have contributed significantly to impaired water quality in coastal areas. Table 17 lists the current treatment capacity of the primary wastewater utilities in the project area, which consists of Gulf Shores Utilities, City of Orange Beach Sewer, and Baldwin County Sewer Service (BCSS). Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-30 Draft Environmental Impact Statement 1 Table 17. Wastewater Utilities Water Service Provider Available Treatment Capacity (MGD) Peak Usage (MGD) Gulf Shores Utilities 4.0 4.0 City of Orange Beach Sewer 4.0 2.0 Baldwin County Sewer Service 4.5 NOT AVAILALBE 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 3.4.2.2.1 Wastewater Treatment Facilities and Collection Systems in South Baldwin County There are three major utilities that operate wastewater treatment facilities in the project area. Together these wastewater utilities have the capacity to treat a total of 13.5 MGD. The City of Orange Beach owns and operates a wastewater treatment plant (WWTP) that serves the eastern portion of the project area. Most of the central and western portions of the GIWW in Baldwin County are served by a WWTP owned and operated by the City of Gulf Shores. Gulf Shores Treatment Facility The current service area for the Gulf Shores wastewater system serves a majority of the parcels within the city limits as well as some areas outside the city to the north and west. There are 48 lift stations in the City’s collection system, which convey wastewater from all areas of the City to the treatment facility located east of S.R. 59 and south of S.R. 180. The Gulf Shores Wastewater Reclamation Facility has a current system capacity of 4 MGD, which has never been reached. The average daily flow for the period 2006-2007 was 1.2435 MG. The highest flow on record for this facility was 2.6 MGD. However, with projects for continued growth in the area, Gulf Shores Utilities has the capacity and plan in place to increase treatment to 6 MGD and eventually to 12 MGD. The facility utilizes ultraviolet disinfection rather that chlorine. In addition, the water reclamation facility uses effluent water for irrigation of non-residential facilities. The Gulf Shores Wastewater Reclamation Facility has three permitted discharge points. The GIWW serves as the main discharge point for this plant. The other two points of discharge are a pond and the Gulf State Park, which receives reclaimed water for irrigation. Gulf Shores Utilities continues to make improvements to existing sewer lines and to expand the system to provide public sewer service to residents and future development throughout their service area. One of the Gulf Shores Utilities activities is the replacement of clay pipe with high density polyethylene pipe through a method of pipe bursting along the north and south side of Beach Boulevard from Gulf Shores State Park, west to the Callaway Property. City of Orange Beach Treatment Facility The City of Orange Beach owns and operates a WWTP that is located at 23908 Canal Road (S.R. 180), just east of the Foley Beach Express. The plant’s current service area is approximately 26 square miles and covers much of the City of Orange Beach, as well as various areas north of the city. The population within the service area is approximately 54,000 people. The service area for this facility covers parcels both north and south of the GIWW within the boundary of the City’s limits. New developments within the city limits are required to connect to the City’s sewer collection system, as septic tanks are not allowed. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-31 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 The City’s wastewater collection system consists of nearly 5 miles of gravity sewer, approximately 120 miles of force mains, and 25 lift stations. These lines collect wastewater from residential, commercial, and industrial districts in its service area, and they convey it to the central treatment plant, located near the southern bank of the GIWW. This facility is an advanced wastewater treatment facility that consists of primary treatment, an aeration basin, clarifiers, and ultraviolet (UV) disinfection. Treated effluent from the facility is conveyed to, and disposed of into, the GIWW. 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 Baldwin County Sewer Service, LLC BCSS, LLC is a privately held, full service, sewer treatment company. The home office is in Summerdale, Alabama. The company was founded in 1998 by a group of local developers and investors to serve developments where sewer service was unavailable. The system has grown by expansion and acquisition of municipal systems to serve roughly 11,200 customers, with current permitted capacity to service 20,000. The BCSS operates over 2.5 million feet of sewer force mains and over 140 lift stations covering 450 square miles, from the tip of Fort Morgan to south of Bay Minette. 43 44 45 46 47 The treatment capacity of the WWTP is 5 million gallons per day. The collection system is comprised of low pressure and gravity lines, mostly in the corporate city limits of Orange Beach. Other areas supplied by the water treatment facility are low-pressure lines to Ono Island and the Miflin Creek region. During the past four years the wastewater operation has upgraded all primary lift stations and installed miles of improved force mains. Due to the rapid increase in construction, the City of Orange Beach Public Works Department is constantly in a state of improvement. The collection system is being expanded on a daily basis to provide sewer availability to every resident of the city, as well as extending lines into the outlying areas of the county. This expansion is possible due to the treatment capacity of the primary facility, which has the capacity to serve twice the current population. A new wastewater treatment plant with a capacity of 10 MGD is expected to start operating by spring 2010. The wastewater treatment plant has a discharge permit issued by the ADEM. The treatment facility is also closely monitored by the USEPA and various local governmental agencies. The liquid leaving the facility is discharged directly into the GIWW, and therefore has a critical impact on the local fishing industry. The facility is permitted to discharge limited quantities of the following chemical/substances, through the discharge point in the concentrations specified in the permit: DO, BOD, total suspended solids, nitrogen, enterococci, ceriodaphnia chronic and pimephales chronic. The BCSS has three treatment facilities: Fort Morgan, Lillian, and Plantation Hills. The BCSS operates by NPDES permit administered by the ADEM, in accordance with, and subject to, the provisions of the Federal Water Pollution Control Act, The Alabama Water Pollution Control Act, and the Alabama Environmental Management Act. BCSS representatives have indicated that their wastewater plants have enough capacity for the proposed developments but they do not have the infrastructure in place in the area of the proposed developments (Baumhauer, 2008). Coordination with BCSS will be needed if they are selected as the wastewater system provider for these developments. 3.4.2.3 Storm Water This section focuses on the conveyance and treatment of storm water runoff in the south Baldwin County area. Alabama has the authority to administer the NPDES permit program for storm water discharges in the state. A storm water NPDES permit is required for certain activities (e.g., construction) and for cities with a population over 100,000. The state may also require a NPDES storm water permit if there is high Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-32 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 potential for polluted runoff. A storm water pollution prevention plan (SWPPP) is required by the ADEM for a Construction Storm Water General NPDES Permit. 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 49 3.4.2.3.1 A network of open channel ditches, curbs, gutters, piping and natural features, such as wetlands, make up the storm water systems in this area, and convey the runoff of storm events from developed areas to surface waters through these storm water systems. In addition, state prescribed erosion and sediment controls are required in order to protect the state’s waters from storm water runoff created by new developments. These controls are detailed in ADEM’s Alabama Handbook for Erosion Control, Sediment Control and Stormwater Management on Construction Sites and Urban Areas last revised in June 2003. As southern Baldwin County has progressed from a few isolated beach towns to a major tourist destination, the area’s storm water infrastructure progressed. Flood prevention was the main storm water design criteria, and open channel swales and ditches were the original means of conveyance for storm water to reach open water bodies. As the area has grown and become more urbanized, closed drainage systems comprised of curbing and underground pipes have become more popular, particularly in areas with increasing impervious areas within narrow rights-of-way. In addition to the city stormwater management requirements established in the City of Gulf Shores and City of Orange Beach Code of Ordinances, the submission of the site plan applications to the City Planning Departments shall include a stormwater management plan that must show compliance with the ADEM Coastal Area Management Program (Chapters 335-6 and 335-8 of the ADEM Administrative Code). Chapter 335-6-12-.02 of the ADEM Administrative Code indicates that a construction activity that disturbs one acre or greater or will disturb less that one acre but is part of a larger common plan of development or sale whose total land disturbing activities total one acre or greater is required to obtain a NPDES permit. Gulf Shores Storm Water System According to the city’s Code of Ordinances, any new development is required to utilize BMPs for erosion control and pollution prevention from construction sites. Due to the highly permeable soils in the region, dry retention ponds and/or infiltration trenches are used to attenuate storm water on-site of a development. Engineers are required to design these storm water attenuation basins to meet ADEM’s first one-half inch runoff volume requirement as well as the city’s 10-year, 24-hour storm event requirement. Not only do these requirements provide treatment for the runoff in the form of removal of suspended solids and soluble pollutant reduction, they also help to recharge the groundwater supply as storm water infiltrates into the ground within these basins. Additionally, there is a provision in the city’s Code for parcels directly adjacent to tidal water bodies. Developments on these parcels are allowed to discharge storm water directly into the adjacent water body without detention so long as there are provisions for pollutant removal from the runoff prior to discharge. Typically developments of this nature have used either an open sedimentation/filtration bed in conjunction with wetlands, other vegetation, or engineered storm water vaults that trap sediments, oils, and pollutants. There are five main open water bodies near the City of Gulf Shores that ultimately accept storm water runoff – the Gulf of Mexico, Little Lagoon, Bon Secour Bay, Oyster Bay, and the GIWW. Engineers are required to design systems that retain storm water on the site of a development so as to not increase the amount of runoff from predevelopment site conditions. The city’s Code of Ordinances Section 7-108 indicates that drainage plans shall be accompanied by sufficient engineering calculations Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-33 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 for verification of discharge of stormwater runoff; including retention/detention of runoff where required to ensure that the maximum stormwater runoff discharge rate after development does not exceed the maximum predevelopment discharge rate. As an exception to this requirement, stormwater runoff could be discharged at the maximum post-development rate without retention/detention, directly into Little Lagoon or the GIWW, from abutting properties if the discharge in no way adversely impacts these water bodies, any other surrounding property, or any other storm drainage facility. Adverse impact includes, but is not limited to: 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 3.4.2.3.2 • Discharge entering a water body in such manner a as to pollute, erode, undermine, silt in, or otherwise destroy the water body or its ecological system. • Discharge entering a water body which raises the stormwater elevation in that water body more than one hundredth (0.01) of a foot above the predevelopment discharge elevation as a result of the ten-year storm as certified by a registered engineer. • Discharge entering onto, into, or flowing over or through other property as a result of development without easements for that purpose expressly granted and recorded by the owner of that property, and without drainage construction in that easement approved by the city as part of the drainage plan for the development generating the discharge. • Discharge flowing, infiltrating, or otherwise entering any other storm drainage facility. Orange Beach Storm Water System The City of Orange Beach regulations require new development within the city to use BMPs to prevent erosion and control pollution prevention. The storm water policies require that runoff from new developments be at or below pre-development conditions. There are a multitude of open water bodies that eventually accept runoff discharge from the Orange Beach area. The Gulf of Mexico, Perdido Bay, Wolf Bay, Bayou La Launch, Bayou Saint John, Cotton Bayou, and the GIWW are some of the main open water bodies around the city that accept storm water discharges. Article IV, Division 3, Section 42-271 of the City Code indicates that “as part of the City’s effort to minimize water quality problems in its adjacent and internal water bodies, the primary goal of its retention/detention planning is to eliminate any direct discharges to the Gulf of Mexico, Gulf beaches, coastal dunes, the Intracoastal Waterway, any contiguous surface waters thereof, and wetlands. In addition, no direct discharge originating from storms less than or equal to a 25-year, 24-hour event will be made to the Intracoastal Waterway or Wolf Bay. To achieve these goals, the City encourages the use of retention/detention areas in future developments. However, other acceptable engineering methods, such as exfiltration/infiltration devices, could be approved”. Regarding the water quality requirements, all stormwater management systems shall be evaluated based on their ability to prevent degradation of receiving waters and adverse impacts on the site’s, and adjacent sites’, natural systems; their efficiency in removing pollutants; and their ability to conform to state water quality standards as established in the State of Alabama Coastal Management Regulations. Currently, development and redevelopment projects must be designed to meet the state of Alabama’s first one-half inch runoff volume requirement. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-34 Draft Environmental Impact Statement 1 2 3 4 There are a multitude of open water bodies that eventually accept runoff discharge from the Orange Beach area. The Gulf of Mexico, Perdido Bay, Wolf Bay, Bayou La Launch, Bayou Saint John, Cotton Bayou, and the GIWW are some of the main open water bodies around the City that accept storm water discharges. 5 6 7 8 9 10 11 12 13 14 15 16 17 3.4.2.4 Solid Waste and Hazardous Waste 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 3.4.2.4.1 This section focuses on the capacity of the solid waste collection and disposal facilities, as well as hazardous waste facilities in Baldwin County that serve southern Baldwin County and the FLC area. The solid waste system consists of means to collect non-hazardous municipal solid waste, and construction and demolition debris, and a system to dispose of it in a permitted landfill. Non-hazardous solid wastes consist of municipal solid waste, which includes domestic waste and non-hazardous commercial and certain industrial wastes, along with construction and demolition debris, which includes concrete, asphalt, wood, metals, and land-clearing materials. The hazardous waste system consists of a means to identify, clean up, and dispose of hazardous waste materials to prevent contamination of the surrounding environment. Hazardous wastes pose potential health and safety risks and could cause contamination if released into the surrounding environment. Hazardous waste sources include asbestos, underground storage tanks (USTs), and toxic chemicals. Solid Waste Collection and Disposal Systems in Southern Baldwin County Baldwin County operates its own federally permitted landfills, with the main non-hazardous landfill being the Magnolia Landfill. The Magnolia Landfill is located at 15140 County Road 49, Summerdale, AL, approximately ten miles northwest of Foley (Figure 32). The landfill is currently permitted for a volume of 350 tons per day but an application has been submitted to increase the permitted volume to 1,500 cy/day (900 tons/day). Additionally, a transfer station is located south of Bay Minette to serve as a point to transport waste produced in the northern half of the county to the landfill in the south central part of the county. The county and several private companies provide transportation service. The Solid Waste Branch of the ADEM regulates the disposal of non-hazardous solid waste. Activities include permitting of municipal solid waste landfills, construction/demolition landfills, and industrial waste landfills. The Branch conducts regular inspections of these landfills to assess compliance with the requirements of the ADEM Administrative Code, Division 13, and enforcement action is taken when needed. The ADEM also permits and inspects medical waste facilities that generate, collect, store, transport, and treat medical/infectious waste in the state. The Solid Waste Branch also investigates complaints of unauthorized solid waste dumps and initiates appropriate enforcement action at these sites. The results of a statewide survey performed for the first phase of the Alabama Solid Waste Management Plan by ADEM indicated Alabamians generated an average of 6.5 pounds of solid waste per person per day. The survey also indicated that approximately 5 percent of the State’s waste stream was recycled. Later data supplied by local governments and compiled as part of the second phase of the plan indicated that the average solid waste production per person per day is 6.3 pounds and that 2.6 percent of the waste stream was actually recycled. The City of Gulf Shores has contracts with two different companies to collect and dispose of nonhazardous municipal solid waste and construction and demolition debris from within the city’s limits. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-35 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 Figure 32. Baldwin County Landfill Locations Residential and non-residential solid waste in the City is collected by B.F.I./Allied Waste Industries, Inc. The City also has an agreement with Waste Management of Alabama, Inc. to collect non-residential nonhazardous solid waste. The City has a recycling center where items such as newspapers, tin cans, aluminum cans, cardboard, office paper, milk, and cola plastic jugs are recycled. The City of Orange Beach has a franchise agreement with B.F.I./Allied Waste Industries, Inc. to collect and dispose of non-hazardous municipal solid waste, and construction and demolition debris from within the city’s limits. Additionally, the City has a voluntary recycling program with drop-off bins provided by Baldwin County centrally located within the City. 13 14 15 16 17 18 19 3.4.2.4.2 20 21 22 23 24 3.4.2.4.3 Hazardous Waste Facilities in South Baldwin County The Hazardous Waste Branch of the ADEM implements state and federal laws related to recycling, pollution prevention, and hazardous waste management. This branch assists in the cleanup of sites contaminated with hazardous wastes, hazardous substances, and hazardous constituents due to both current and historical activities. The major areas of focus are hazardous waste management, brownfield redevelopment, and Comprehensive Environmental Response, Compensation, and Liability Act (CERCLA) of 1980 remediation. Baldwin County Hazardous Waste Sites The Alabama Hazardous Substance Cleanup Fund (AHSCF) was established in 1989 by the Alabama Legislature to provide a mechanism for ADEM to investigate, remediate, and monitor hazardous substance sites. These hazardous waste sites could be an endangerment to human health and the environment, but may not qualify to be addressed by another federal or state cleanup program. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-36 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 Generally, sites utilizing AHSCF funds either are not qualified for, or are unlikely to receive cleanup funding under CERCLA, commonly referred to as “Superfund”. Funding could also be used for long-term maintenance and monitoring of sites which have historically been addressed under CERCLA. Since the inception of the AHSCF, approximately 300 sites have been addressed, with almost 275 sites remediated to a point where no further action is warranted. Funding for the AHSCF activities is generated by legislative appropriations, fees from hazardous waste disposal at the Emelle hazardous waste landfill, and reimbursements from potentially responsible parties (PRPs). For fiscal year 2005, legislative appropriations and tax revenue provided $116,262 of funding. 14 15 16 17 3.4.2.5 Telecommunications and Energy Systems According to the AHSCF Annual Report, there were no clean up sites in Baldwin County for fiscal year 2005. According to ADEM, there are no hazardous waste facilities in the area. The Underground Storage Tank Corrective Action Program of ADEM oversees the initial response, assessment, monitoring, risk evaluation and remediation of releases from underground storage tanks. This section focuses on the capacity of the telecommunications and energy facilities in the project area. The telecommunications system consists of telephone and other communications services. The energy systems include electrical power and natural gas. 18 19 20 21 22 3.4.2.5.1 23 3.4.2.5.2 24 25 26 27 28 29 30 31 32 Electrical Power Utilities Baldwin Electric Membership Cooperative (EMC) is the only provider of electric service to the project area. It is a member-owned cooperative supplying electric service to more than 60,000 customers throughout Baldwin County and southern Monroe County in southwestern Alabama. Their service territory is located between Mobile, Alabama and Pensacola, Florida, and includes both the Gulf Shores and Orange Beach areas. Baldwin EMC does not operate any power plants, rather purchases its power from the Power South. The power supply consists of mostly coal and natural gas power with a small percentage coming form hydro-electric supplies. Baldwin EMC has three offices locations in Baldwin County with their headquarters in Summerdale. 33 34 35 36 37 38 39 40 41 42 43 44 Natural Gas Utilities Natural Gas is supplied to the project area through local utilities such as Riviera Utilities and ClarkeMobile Counties Gas District (CMC Gas). Riviera Utilities provides natural gas to the Gulf Shores area while CMC provides natural gas to the Orange Beach area. The following routes include pipelines within CMC’s service area: Telecommunication Systems in South Baldwin County GulfTel Communications, a CenturyTel Company, provides telecommunications services, including central offices, basic local phone service, digital subscriber line (DSL), dial-up and long distance service, to the project area. GulfTel serves more than 60,000 customers. Other internet and telephone providers in Orange Beach include Network Neighbors and Smart Resort. • • • Energy Systems in South Baldwin County Baldwin County Road 4, from Riviera Utilities regulator station across the inner-coastal canal to the city of Orange Beach. Alabama S.R.s 180, 182, 161, and most city streets within the police jurisdiction. Baldwin County EMC power line right of way through the Gulf State Park (right of way also known as Florida Street). Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-37 Draft Environmental Impact Statement 1 2 3 4 5 6 7 Riviera Utilities Gas Department serves over 3,300 residential and commercial natural gas customers. Riviera obtains natural gas through Gulf South Pipeline at its two city gate metering stations, which are located in Bay Minette and Gateswood. Riviera Utilities has firm gas contracts with Prior Energy and Phoenix Pipeline Co. Riviera Utilities Gas Department serves customers in Foley, Magnolia Springs, Summerdale, Elberta, Miflin, Gulf Shores, and the municipalities of Loxley, Robertsdale, Silverhill, and the gas system customers of Orange Beach. 8 3.5 SOCIOECONOMICS 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 This section describes the social and economic environment that would be potentially impacted by the Proposed Action and alternative actions. The social and economic environment of the Gulf Shores/Orange Beach area is characterized by its demographic composition, the structure and size of its economy, and the types and levels of public services available to its citizens. Accordingly, this study evaluates potential impacts of the USACE permitting actions along the FLC on the region’s population growth, employment and income levels, business activities, housing stock, public services, environmental justice, and the protection of children. The socioeconomic environment evaluated for this EIS includes the FLC and the area surrounding the coast, all located in Baldwin County, Alabama. With 1,596 square miles, Baldwin County is the largest county in Alabama, and has a population density of 88 persons per square mile (USBC 2000a). It lies along the eastern side of Mobile Bay and is bordered on the east by Escambia County, Florida, and on the south by the Gulf of Mexico and the GIWW, along which Gulf Shores and Orange Beach are located. The northern portion of the county is predominantly rural and agricultural. Baldwin County forms the ROI and defines the geographic area in which most social and economic impacts from large-scale development projects would likely take place.7 The study recognizes, however, that socioeconomic impacts from proposed and alternative actions could extend beyond the ROI, and even beyond the state of Alabama, although these impacts would be significantly diminished beyond the ROI evaluated in this EIS. 3.5.1 Population Population growth in Baldwin County during the past three decades has been relatively robust, as shown in Table 18, especially compared to the State of Alabama and to the U.S. as a whole. The County’s population increased by an average of 3.6 percent annually during the 1990s, while the State grew by an average rate of 1 percent annually and the U.S., by 1.2 percent. Figure 33 illustrates the extent to which Baldwin County’s growth has outstripped that of Alabama and the U.S. This growth may reflect several trends, including permanent and seasonal (“snowbird”) migration to the Sunbelt from northern parts of the United States, increasing development along coastal areas, and growing affluence among retiree populations. 7 All of Baldwin County is included in the impact analysis because it is not feasible to measure changes in economic activities at the sub-county level. Economic models generally project changes at the county level or above. Where data are available at the sub-county level, the analysis will focus on the southern part of the County. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-38 Draft Environmental Impact Statement 1 2 Table 18. Historical Population Levels and Rates of Change, 1970-2000 ROI and Comparison Areas Location Baldwin County Alabama United States 1970 1980 1990 2000 59,382 78,556 98,280 140,415 3,444,165 3,893,888 4,040,587 4,447,100 203,211,926 226,545,805 248,709,873 281,421,906 Average Annual Percent Change in Population by Decade 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 1970-1980 1980-1990 1990-2000 1970-2000 Baldwin County 2.8% 2.3% 3.6% 2.9% Alabama 1.2% 0.4% 1.0% 0.9% United States 1.1% 0.9% 1.2% 1.1% Source of 1970-1990 data: USBC 1995; Source of 2000 data: USBC 2000 Recently, the largest population growth in the county has occurred in the coastal towns of Gulf Shores and Orange Beach and the communities of Loxley and Foley, directly north of the beach areas (BCEDA 2008). These trends indicate the impact of coastal resort development along the FLC. In 2000, population in the City of Gulf Shores was 5,044 and in the City of Orange Beach, 3,784. The Alabama Gulf Coast Area Chamber of Commerce projects that population in the two towns will increase by about 40 percent by 2008 (AGCACC 2006). The median age in Baldwin County in 2000 was 39.0 years, compared to 35.8 years for Alabama and 35.3 for the U.S. In Gulf Shores and Orange Beach, the population’s median age was 46.8 and 44.2, respectively, reflecting a higher proportion of older residents (USBC 2000b). New population estimates for 2007 were released by the U.S. Census Bureau on March 20, 2008. Table 19 illustrates that population growth has continued in both Baldwin County and Alabama, with Baldwin County experiencing significantly more growth than the state of Alabama from the period of 2000-2007. Baldwin County’s average annual population growth between 2000-2007 was three percent, compared to one percent for Alabama. Baldwin County is the 7th largest county in Alabama and ranked 3rd in terms of actual population growth between 2006 and 2007 (USBC 2008a). By 2025, Baldwin County is projected to have a population of about 248,400 and rank as the 6th largest county in Alabama (USBC and UA 2001a). Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-39 Draft Environmental Impact Statement 1 2 3 4 5 6 4.0% Baldwin County 3.5% Alabama United States 7 Average Annual % Change 3.0% 8 2.5% 9 2.0% 10 1.5% 11 1.0% 12 0.5% 13 14 0.0% 1970-1980 1980-1990 15 1990-2000 16 17 Figure 33. Comparison of population growth rates by decade and area 18 19 20 Table 19. Population Levels, 2001-2005 ROI and Comparison Areas Total Percent age Change 20002007 Average Annual Change Location Baldwin County 2000 2001 2002 2003 2004 2005 2006 2007 141,364 145,013 148,184 151,714 156,902 162,749 168,233 171,769 22% 3% Alabama 4,451,887 4,466,618 4,477,571 4,495,089 4,517,442 4,548,327 4,590,240 4,627,851 4% 1% Source: USBC 2008a Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-40 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 3.5.2 Employment In the last few decades, rapid population growth in Baldwin County has resulted in substantial economic growth (AREREC 2005). Baldwin County’s employment growth has exceeded growth rates in Alabama and the U.S. over the past decades, as shown in Table 20. The county’s employment of 70,247 in 2000 represented nearly three percent of total Alabama employment, while in 1970 it was only 1.4 percent of the total (BEA 2007). Growth rates in the county have accelerated each decade since 1970, with an average annual growth rate of nearly 5.6 percent during the 1990s. Figure 34 illustrates employment trends for the ROI and comparison areas over this period. 9 10 Table 20. Historical Employment Levels and Rates of Change, 1970-2000 Location Baldwin County 1970 1980 1990 2000 19,749 27,861 40,809 70,247 Alabama 1,412,928 1,735,992 2,061,101 2,416,422 United States 91,281,600 114,231,200 139,380,900 166,758,800 Average Annual Percent Change in Population by Decade 11 12 1970-1980 1980-1990 1990-2000 1970-2000 Baldwin County 3.50% 3.89% 5.58% 4.32% Alabama 2.08% 1.73% 1.60% 1.80% United States 2.27% 2.01% 1.81% 2.03% Source: BEA 2007 6.0% 5.0% Baldwin Co. Alabama Average Annual % Change by Decade United States 4.0% 3.0% 2.0% 1.0% 0.0% 1970-1980 1980-1990 1990-2000 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 Figure 34. Comparison of employment growth rates by decade and area 33 34 35 Recently released employment figures from the Bureau of Economic Analysis (BEA) illustrate that total full-time and part-time employment has continued to grow significantly in Baldwin County (Table 21). Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-41 Draft Environmental Impact Statement 1 Table 21. Employment Levels, 2001-2005 and Comparison Areas Location Baldwin County Alabama 2 3 4 5 6 7 8 9 10 11 12 13 14 15 2001 2002 2003 2004 2006 Total Percentage Change 20012005 71,317 72,426 75,098 78,613 88,090 23.52% 2,392,552 2,387,215 2,396,939 2,453,423 2,590,042 8.25% Source: BEA 2007 The ROI economy has been based in the services sector over the past 30 years, but a general shift from a rural economy to a services-based urban economy is evident as employment in the manufacturing and farm sectors has decreased over this period and the services sector has continued to grow. In 2006, services provided over a quarter of Baldwin County’s employment. Specific components within the service sector include accommodation and food, repair, entertainment, health, administrative and waste, educational, and other professional and technical services (BEA 2007). Retail trade has continuously increased during this period, and in 2006, this sector was the largest source of regional employment, providing 15 percent of employment (Figure 35). The service and retail sectors combined account for nearly half of the jobs in Baldwin County. The construction industry was the second largest source of regional employment, providing 11 percent of ROI employment. About 9,200 people were employed in the construction sector, an increase of 48 percent over the 6,200 jobs in this sector in 2001 (BEA 2008). 16 17 18 19 Mining, 0.3% 20 Construction, 8.5% 21 22 Manufacturing, 8.8% 23 24 Transportation, Public 25 Utilities, 3.5% 26 Wholesale Trade, 3.1% 27 28 29 30 31 32 Retail Trade, 23.0% 33 34 35 36 Agricultural Services, Forestry, Fishing, and Other, 1.9% Government, 12.8% Services, 26.6% Finance, Insurance, Real Estate, 9.7% 37 Figure 35. Baldwin County employment by sector, 2000 38 39 40 41 42 Meanwhile, employment in the manufacturing sector has decreased by about 50 percent over the last three decades. During this period, there also has been a significant decrease in farm employment, decreasing from 16 percent in 1970 to 2 percent in 2000. These economic trends are shown in Table 22 and 23, which presents ROI employment by industry for 1970, 1980, 1990, and 2000. The accelerated growth of Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-42 Draft Environmental Impact Statement 1 2 3 4 5 6 7 the services sector and the expansion of the retail trades sector in Baldwin County can be partially attributed to resort development along the Gulf Coast, although these changes parallel national trends to a large extent. Baldwin County’s 2007 total (direct and indirect) resort/travel-related employment was almost 42,000, an increase of 8 percent from 2006. Baldwin County accounted for almost 25 percent of the state’s travel-generated employment (Alabama Tourism Department 2008). 8 Table 22. Total Full-time and Part-time Historical Employment by Industry (1970 & 1980) 1970 1980 % Alabama % Baldwin Co. % Alabama % Agricultural Services, Forestry, Fishing, and Other Mining 617 3.1% 7,631 0.5% 907 3.3% 11,044 0.6% <10 <0.1% 8,565 0.6% 72 0.3% 17,765 1.0% Construction 956 4.8% 64,187 4.5% 1,991 7.1% 91,967 5.3% Manufacturing 3,291 16.7% 331,748 23.5% 4,029 14.5% 376,238 21.7% Transportation, Public Utilities 530 2.7% 62,211 4.4% 1,099 3.9% 80,331 4.6% Wholesale Trade 481 2.4% 55,941 4.0% 1,102 4.0% 81,109 4.7% 2,939 14.9% 184,694 13.1% 4,779 17.2% 244,994 14.1% Industry Retail Trade Baldwin Co. Finance, Insurance, Real Estate Services 748 3.8% 59,167 4.2% 2,441 8.8% 97,686 5.6% 4,167 21.1% 257,547 18.2% 4,901 17.6% 303,341 17.5% Government 2,848 14.4% 286,473 20.3% 4,066 14.6% 348,146 20.1% Total Nonfarm Employment 16,582 84.0% 1,318,164 93.3% 25,387 91.1% 1,652,621 95.2% Farm Employment 3,167 16.0% 94,764 6.7% 2,474 8.9% 83,371 4.8% Total Employment 19,749 100.0% 1,412,928 100.0% 27,861 100.0% 1,735,992 100.0% 9 10 Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-43 Draft Environmental Impact Statement 1 Table 23. Total Full-time and Part-time Historical Employment by Industry (1990 & 2000) 1990 % Baldwin Co. % Alabama Agricultural Services, Forestry, Fishing, and Other 860 2.1% 17,795 % Alabama % 0.9% 1,310 1.9% 28,004 1.2% Mining 148 0.4% 15,050 0.7% 198 0.3% 9,933 0.4% Construction 2,195 5.4% 118,708 5.8% 5,943 8.5% 156,673 6.5% Manufacturing 5,586 13.7% 396,248 19.2% 6,156 8.8% 370,962 15.4% Transportation, Public Utilities 1,552 3.8% 94,927 4.6% 2,449 3.5% 116,071 4.8% Wholesale Trade 1,280 3.1% 91,389 4.4% 2,148 3.1% 105,963 4.4% Retail Trade 8,007 19.6% 321,969 15.6% 16,184 23.0% 406,340 16.8% Finance, Insurance, Real Estate 2,891 7.1% 110,817 5.4% 6,779 9.7% 147,909 6.1% Services 10,388 25.5% 454,447 22.0% 18,655 26.6% 632,666 26.2% Government 6,229 15.3% 376,744 18.3% 9,022 12.8% 385,840 16.0% Total Nonfarm Employment 39,136 95.9% 1,998,094 96.9% 68,844 98.0% 2,360,361 97.7% Farm Employment 1,673 4.1% 63,007 3.1% 1,403 2.0% 56,061 2.3% Total Employment 40,809 100.0% 2,061,101 100.0% 70,247 100.0% 2,416,422 100.0% Industry 2 3 4 5 6 7 8 9 10 11 12 13 14 2000 Baldwin Co. Source: BEA 2007, Tables CA1-3, CA04, and CA25 Since 1990, the unemployment rate in Baldwin County has consistently been about one percent less than that of the State of Alabama and the United States. Baldwin County and the United States experienced the same decrease in the unemployment rate from 1990 to 2000 (1.6 percent), while the State experienced a greater decrease of 2.2 percent in this period, bringing its unemployment rate nearly equal to that of the U.S. (BLS 2007; ALDIR 2007). The benchmarked unemployment rates for 2007 in Baldwin County and Alabama decreased from 2000, indicating an increase in the demand for labor. Table 24 shows unemployment data for the ROI and comparison areas. The national average unemployment rate increased between 2000 and 2007. With the exception of Mobile County, which borders Baldwin County to the west, all other counties bordering Baldwin County (Clarke, Escambia, Monroe, and Washington Counties, Alabama) had unemployment rates higher than the national average. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-44 Draft Environmental Impact Statement 1 Table 24. Labor force and unemployment rates 1990 Civilian labor force Baldwin County 2 3 4 5 6 7 8 Rate Civilian labor force 2005 Persons unemployed Rate Civilian labor force Persons unemployed Rate 46,773 2,281 4.9% 70,300 2,291 3.3% 76,943 2,533 3.3% 1,903,248 120,548 6.3% 2,154,545 87,398 4.1% 2,154,897 85,724 4.0% 125,840,000 7,047,000 5.6% 136,901,000 5,655,000 4.0% 141,715,000 7,581,000 5.1% Alabama United States 2000 Persons unemployed Source of 1990 and 2000–2005 Alabama and Baldwin County Data: ALDIR 2007; Source of U.S. Data: BLS 2007 The 20 largest employers in Baldwin County are shown in Table 25. These employers represent about 18 percent of the employees in the county. The top employer is the Baldwin County Board of Education, which is in the government sector. Three of the top six employers fall into the services sector (Thomas Hospital, South Baldwin Regional Medical Center, and Grand Hotel), and the other two employers are in the retail industry (Wal-Mart Super Centers and Standard Furniture). 9 10 11 Table 25. Largest Employers in Baldwin County Number of Employees Employer Location Baldwin County Board of Education Baldwin County 3,044 Standard Furniture Bay Minette 1,400 Wal-Mart Super Centers Bay Minette, Daphne, Foley, Gulf Shores 1,290 Thomas Hospital Fairhope 1,110 Goodrich Aerospace and Aerostructures Group Grand Hotel (Marriot Corporation) Foley 791 Fairhope 590 South Baldwin Regional Medical Center Foley 550 Baldwin County Commission Baldwin County 475 Mercy Medical Daphne 425 Mobile Lumber Bay Minette 311 Ace Hardware Support Center Loxley 310 North Baldwin Infirmary Bay Minette 300 Hazels Family of Restaurants Gulf Shores, Orange Beach 270 Flowerwood Nurseries Loxley 260 Vulcan, Inc. Foley 250 Solutia Foley 185 Bon Secour Fisheries Bon Secour 180 PrintXcel Fairhope 165 Quincy Compressors Bay Minette 147 International Paper Bay Minette 130 Source: BCEDA 2008 Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-45 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 3.5.3 Income 11 Table 26. Historical Income Levels for Baldwin County and Alabama Table 26 shows income data for Baldwin County and Alabama as reported for 1969, 1979, 1989, 1999, and 2006. Income levels in the County and State were fairly equal in 1969 and 1979, but over the last two decades, the gap has widened between the County and State both in per capita income (PCI) and median household income, with Baldwin County’s income levels increasing at a faster pace. Table 26 includes county and state PCI as a percentage of U.S. and further illustrates the county’s higher growth rate in PCI. The income gap is especially evident in comparing Baldwin County’s 2006 median household income of $44,878 to Alabama’s 2006 median household income of $38,783, a difference of about 16 percent. 19692 Baldwin Co. 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 1979 Alabama Baldwin Co. 1989 1999 Alabama Baldwin Co. Alabama Baldwin Co. 2006 Alabama Baldwin Co. Alabama Per Capita Income $7,084 $7,292 $9,987 $9,876 $12,275 $11,486 $20,826 $18,189 $24,323 $21,270 As percent of US. PCI 69% 72% 75% 77% 80% 81% 88% 80% 96% 84% $44,878 $38,783 Median Household Income $6,430 $6,419 $14,614 $13,669 $25,712 $23,597 $40,250 $34,135 1 Notes: Amounts are in actual dollars, not adjusted for inflation. 2 Each decennial census reports income as of the previous year. Source of 1969-1989 Data: USBC 2005; Source of 1999 Data: USBC 2000b; Source of 2006 Data: USBC 2008b Tables 27 and 28 show income levels in Baldwin County in 1989 and 1999 broken down to the census tract level. The tables show data from the tracts in southern Baldwin County, where coastal development is proposed. For the 2000 Census, Tract 114.02 in Baldwin County was divided into Tracts 114.03 and 114.04. Figure 36 shows these census tracts as of the 2000 Census. The PCI and median household income were greatest in Tract 114.02 in 1989 and Tract 114.04 as a subset of Tract 114.02 in 1999. Of these tracts, the lowest income levels were in Tract 115, which is a land-locked tract including the town of Foley, directly north of Tract 114.03. These income levels were below the State in 1989 but increased to closely match the State in 1999. Tracts 114.01, 114.03, and 114.04 showed the highest income levels in 1999; these areas include Orange Beach and Gulf Shores (Tract 114.04), and north (Tract 114.03) and northwest (Tract 114.01) of Gulf Shores. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-46 Draft Environmental Impact Statement 1 Table 27. 1989 Income Levels by Tract Per Capita Income As % of Baldwin Co. Median Household Income Tract 114.01 Tract 1 114.02 Tract 115 Tract 116 $10,480 $15,699 $9,559 $13,242 67% 100% 61% 85% $25,101 $28,191 $22,096 $26,301 1 2 3 4 Note: Census Tract 114.02 was split into Tracts 114.03 and 114.04 for the 2000 Census. Source: USBC 1990 5 Table 28. 1999 Income Levels by Tract 6 7 Tract 114.01 Tract 1 114.03 Tract 114.041 Tract 115 Tract 116 Per Capita Income $18,112 $22,861 $27,217 $19,180 $19,939 As % of Baldwin Co 69% 88% 104% 73% 76% Median Household Income $37,087 $36,796 $41,019 $34,172 $35,820 1 Note: Census Tracts 114.03 and 114.04 were formed by splitting Tract 114.02. Source: USBC 2000b, File SF3 Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-47 Draft Environmental Impact Statement 1 2 Figure 36. Census Tracts in Southern Baldwin County, 2000 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 3.5.4 Housing Characteristics of the ROI’s housing stock in 1990, 2000, and 2006 are summarized in Tables 29, 30, and 30, respectively. These tables identify occupied and vacant housing units by census tract and for Gulf Shores, Orange Beach, Baldwin County, and Alabama. The units identified include all structure types (e.g., single-family homes, apartments, and mobile homes). The growth in housing stock between 1990 and 2000 shows that Baldwin County, and the Gulf Coast area in particular, have outpaced Alabama and the U.S. in housing construction. The number of housing units has increased by nearly 46 percent in Baldwin County, with growth in the coastal census tracts at 52 percent. For the same period, housing stock increased by about 18 percent in Alabama and 13 percent in the U.S. (USBC 2000 1990). Housing trends in the ROI indicate that it is a resort and tourist area, in that 62 percent of vacant units in Gulf Shores and 93 percent of vacant units in Orange Beach are classified as seasonal (Table 30). Generally, seasonal use of vacant housing was high in all census tracts along the Gulf Coast except in Census Tract 115, which is inland. Between 1990 and 2000, there was a decrease in seasonal use of vacant housing, while the number of housing units roughly doubled for all Census Tracts near the Coast. Looking at Baldwin County as a whole, seasonal use of vacant housing units decreased between 1990 and Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-48 Draft Environmental Impact Statement 1 2 3 2000 and again between 2000 and 2006 (Table 31). This trend suggests an influx of permanent population to this region of the Gulf Coast. 4 Table 29. 1990 Housing Stock Tract 114.01 Total Housing Units Occupied Housing Units Tract 114.021 Tract 115 Tract 116 Baldwin Co. Alabama 2,124 12,362 3,101 3,398 50,933 1,670,379 1,665 3,786 2,751 2,595 37,044 1,506,790 Vacant Housing Units 459 8,576 350 803 13,889 163,589 For Sale (%) 5.9% 1.3% 11.4% 6.1% 4.7% 12.1% For Rent (%) 10.5% 1.4% 24.6% 5.4% 6.7% 28.0% 53.2% 95.9% 35.4% 73.2% 76.7% 21.8% Seasonal Use (%) 1 5 6 7 Note: Census Tract 114.02 was split into Tracts 114.03 and 114.04 for the 2000 Census. Source: USBC 2000b; USBC 1990 8 Table 30. 2000 Housing Stock, ROI and Comparison Areas Tract 114.01 Tract 1 114.04 Tract 1 114.03 Tract 115 Tract 116 Orange Beach Baldwin Co. Alabama Total Housing Units 3,191 2,387 16,023 4,673 5,644 6,810 7,594 74,285 1,963,711 Occupied Housing Units 2,675 1,853 4,651 4,159 4,512 2,344 1,779 55,336 1,737,080 Vacant Housing Units 516 534 11,372 514 1,132 4,466 5,815 18,949 226,631 For Sale (%) 12.6% 21.5% 15.0% 23.7% 6.4% 7.9% 11.4% For Rent (%) 12.6% 11.0% 2.8% 24.9% 11.7% 17.1% 28.3% Seasonal Use (%) 47.9% 44.8% 79.8% 16.5% 58.3% 61.8% 93.1% 62.6% 20.8% Vacancy Rate, Homeowner 8.7% 8.1% 3.3% 2.0% Vacancy Rate, Rental 68.6% 28.6% 22.3% 11.8% 1 9 10 11 Note: Census Tracts 114.03 and 114.04 were formed by splitting Tract 114.02. Source: USBC 2000b, Files SF1 and SF3 12 Table 31. Baldwin County Housing Stock 13 14 15 16 17 18 19 20 Gulf Shores Total Housing Units 1990 50,933 2000 74,285 2006 96,349 Occupied Housing Units 37,044 55,336 70,427 Vacant Housing Units 13,889 18,949 25,922 For Sale (%) 4.7% 7.9% 8.9% For Rent (%) 6.7% 17.1% 28.5% Seasonal Use (%) 76.7% 62.6% 42.9% Source: USBC 2008b Table 32 shows a building increase in the early 1990s. The value of construction in Orange Beach spiked in 1995 and 1998, double that of Gulf Shores. In the early 2000s, the value of construction more than doubled for both Gulf Shores and Orange Beach. Orange Beach rose sharply between 2005 and 2006, whereas Gulf Shores dropped somewhat, but both Gulf Shores and Orange Beach dropped greatly between 2006 and 2007. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-49 Draft Environmental Impact Statement 1 Table 32. Building Permits – Total Value of Construction Year 2 Gulf Shores Orange Beach 1990 $10,815,330 - 1991 $10,771,684 $10,610,834 1992 $15,630,754 $17,146,776 1993 $28,128,008 $46,755,156 1994 $43,099,986 $67,815,142 1995 $48,622,228 $102,826,090 1996 $53,001,153 $56,418,972 1997 $40,389,153 $56,155,719 1998 $47,270,964 $101,288,505 1999 $48,442,210 $73,502,263 2000 $52,069,449 $76,786,298 2001 $40,378,369 $73,213,501 2002 $50,853,570 $27,427,545 2003 $96,653,860 $106,841,077 2004 $298,633,020 $237,525,776 2005 $311,988,881 $317,197,363 2006 $229,713,582 $731,868,846 2007 $36,572,783 $37,602,247 Source: AGCACC 2008 3 4 5 6 7 8 9 10 11 12 3.5.5 Quality of Life 13 14 15 16 17 18 19 20 21 22 3.5.5.1 Schools “Quality of life” encompasses those attributes or resources (man-made or naturally occurring) of a region that contribute to the well-being of its residents. The relative importance of these attributes to a person’s well-being is subjective (e.g., some individuals consider educational opportunities essential to their wellbeing, others could place a high value on the availability of healthcare services, and still others could hold public safety as their primary quality-of-life concern). NEPA quality-of-life analyses typically address issues relating to potential impacts of the proposed action on the availability of public services and leisure activities that contribute to quality of life of the affected ROI’s inhabitants. For purposes of this study, the affected environment for quality of life includes public schools, public safety (law enforcement and fire protection), medical facilities, and recreational amenities. The Baldwin County School District serves the entire ROI and includes 46 public schools providing education for approximately 22,337 students. Table 33 shows general information for the school district and the increases in enrollment, schools, and teachers from 1990 to 2000. The 43% increase in Baldwin County’s population between 1990 and 2000 translated to a 31% increase in student enrollment in the Baldwin County School District during the same period, suggesting that some of Baldwin County’s new residents did not have school-age children. The District has compensated for the enrollment increase by increasing the number of schools by 53% and increasing the number of teachers by 78%. Table 34 shows enrollment by school during the 2005-2006 school year in the Baldwin County School District. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-50 Draft Environmental Impact Statement 1 Table 33. Historical School District Enrollment Baldwin Co. School District 1990 2000 % Increase Student Enrollment 17,054 22,337 31.0% Schools 30 46 53.3% Teachers (Full-time equivalent) 882 1,568 77.9% 2 3 Source: USDOE 2007 4 Table 34. List of Schools in Baldwin County School District School Free Lunch Reduced Lunch Location Students Type Baldwin Co. High School Bay Minette 1170 319 60 Secondary (9-12) Baldwin Co. Reg Det Ctr Bay Minette 26 0 0 Secondary (6-12) Bay Minette Elementary School Bay Minette 561 291 46 Primary (KG-3) Bay Minette Intermediate School Bay Minette 357 177 42 Primary (4-5) Bay Minette Middle School Bay Minette 830 348 82 Secondary (6-8) Central Baldwin Middle School Robertsdale 784 268 101 Secondary (6-8) Daphne East Elementary School Daphne 513 219 19 Primary (KG-6) Daphne Elementary School North Daphne 599 90 29 Primary (KG-3) Daphne Elementary School South Daphne 306 62 30 Primary (4-6) Daphne High School Daphne 1416 160 49 Secondary (9-12) Daphne Middle School Daphne 773 149 41 Secondary (7-8) Delta Elementary School Bay Minette 279 95 39 Primary (KG-6) Elberta Elementary School Elberta 478 172 83 Elberta Middle School Elberta 613 199 103 Primary (KG-3) Primary/Secondary (4-8) Elsanor School Robertsdale 250 97 45 Primary (KG-6) Fairhope High School Fairhope 1235 177 68 Secondary (9-12) Fairhope Intermediate School Fairhope 469 115 11 Primary (4-5) Fairhope K-1 Center Fairhope 498 64 13 Primary (PK-1) Fairhope Middle School Fairhope 685 143 63 Secondary (6-8) Fairhope Primary School Fairhope 444 70 18 Primary (2-3) Foley Elementary School Foley 673 346 92 Primary (KG-3) Foley High School Foley 1374 405 166 Secondary (9-12) Foley Intermediate School Foley 267 139 39 Primary (4-5) Foley Middle School Foley 725 343 86 Secondary (6-8) Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-51 Draft Environmental Impact Statement Table 34. List of Schools in Baldwin County School District (continued) School 1 2 3 4 5 6 7 8 9 10 11 12 13 Location Students Free Lunch Reduced Lunch Type Gulf Shores Elementary School Gulf Shores 616 140 40 Primary (KG-5) Gulf Shores High School Gulf Shores 708 65 26 Secondary (9-12) Gulf Shores Middle School Gulf Shores 573 130 32 J. Larry Newton School Fairhope 799 192 95 Secondary (6-8) Primary/Secondary (KG-8) Loxley Elementary School Loxley 367 163 61 Primary (KG-6) Magnolia School Foley 536 228 70 Primary (KG-6) Orange Beach Elementary School Orange Beach 357 33 12 Primary (KG-5) Perdido Elementary School Perdido 505 191 71 Primary/Secondary (KG-8) Pine Grove Elementary School Bay Minette 353 213 40 Primary (KG-3) Robertsdale Elementary School Robertsdale 779 282 78 Primary (KG-6) Robertsdale High School Robertsdale 1231 284 128 Secondary (9-12) Rockwell Elementary School Spanish Fort 662 76 24 Primary (KG-6) Rosinton School Robertsdale 283 71 49 Primary (KG-6) Silverhill School Silverhill 342 99 47 Spanish Fort School Spanish Fort 696 41 18 Primary (KG-5) Primary/Secondary (KG-8) Spanish Fort High School Spanish Fort 711 50 26 Secondary (7-10) Stapleton School Stapleton 201 58 29 Summerdale School Summerdale 543 245 77 Primary (KG-6) Primary/Secondary (KG-8) Swift Consolidated Elementary School Bon Secour 183 80 33 Primary (KG-5) Source: USDOE 2007 The cities of Gulf Shores and Orange Beach prepared a feasibility study for creating an independent school district along the Gulf Coast of Baldwin County (WW 2006). In March 2007 a referendum to form an independent school system funded through a 7.5-mil property tax increase failed by more than a two-to-one margin in both Orange Beach and Gulf Shores. Table 35 displays the historic enrollment of Orange Beach Elementary School, Gulf Shores Elementary School, Gulf Shores Middle School, and Gulf Shores High School, while Table 36 displays the projected enrollment and capacity. Data for the 2006-2007 school year show a total of 2,179 students in the four schools. The proposed district’s projected enrollment for 2015 is 2,723, an increase of 25% between 2007 and 2015. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-52 Draft Environmental Impact Statement 1 Table 35. Gulf Shores and Orange Beach Historic School Enrollment School 1990 2000 2002 2003 2004 2005 2006 2007 0 282 274 278 306 327 332 303 746 515 519 517 553 574 609 599 Gulf Shores Middle 0 398 438 451 502 530 548 563 Gulf Shores High 0 355 518 559 553 623 675 714 746 1,550 1,749 1,805 1,914 2,054 2,164 2,179 Orange Beach Elementary Gulf Shores Elementary Total 2 Source: Weaver and Williams 2006 3 4 Table 36. Gulf Shores and Orange Beach Actual and Projected Student Enrollment School Capacity 2007 2010 2015 Orange Beach Elementary 550 303 347 419 Gulf Shores Elementary 650 599 599 629 Gulf Shores Middle 550 563 596 686 Gulf Shores High 700 714 839 989 2,450 2,179 2,381 2,723 Total 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 Source: Weaver and Williams 2006 3.5.5.2 Public Safety Eleven municipal police departments serve residents in incorporated areas of the county, and the Baldwin County Sheriff’s Department is responsible for unincorporated areas. Table 37 shows police resources in Baldwin County in 2005. This analysis follows that of the Alabama Criminal Justice Information Center in their report, 2005 Crime in Alabama. In accounting for differences in police resources due to population, a ratio of sworn officers per 100 residents was calculated, assuming that sworn officers represent the officers responsible for patrolling. Generally, the ratios in the towns of Baldwin County were greater than or equal to those reported for Alabama (0.23) and the United States (approximately 0.20). The Baldwin County Sheriff’s office has the lowest ratio of sworn officers to residents (0.09), about half that of Alabama and the United States. The ratio of sworn officers per 100 permanent residents is approximately 0.5 in Gulf Shores and 0.8 in Orange Beach. The Gulf Shores Police Department reported that seasonal population in the City during the summer can be between 25,000 and 100,000 at any one time (GSPD 2007). Using the U.S. ratio of 0.2 sworn officers per 100 residents as a benchmark, it is conservatively estimated that the Gulf Shores Police Department could reasonably protect an additional 10,000 residents without additional officers. Similarly, Orange Beach police resources could reasonably protect an additional 13,000 residents. This analysis suggests that police resources in both communities could be somewhat overburdened during the vacation season. Both the Gulf Shores and Orange Beach Police Departments have marine units that patrol the Gulf of Mexico shoreline and enforce boating laws. These units operate only in the summer. The Gulf Shores Police Department also operates a Bike Patrol unit in the spring and summer. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-53 Draft Environmental Impact Statement 1 Table 37. 2006 Police Resources in Baldwin County Population Sworn Officers Civilian Employees Sworn Officers : 100 Residents Bay Minette Police Department 7,879 24 8 0.30 Daphne Police Department 18,749 46 30 0.25 Elberta Police Department 588 6 1 1.02 Fairhope Police Department 15,530 30 22 0.19 Foley Police Department 11,522 33 25 0.29 Gulf Shores Police Department 7,329 36 13 0.49 Loxley Police Department 1,448 8 5 0.55 Orange Beach Police Department 5,101 40 22 0.78 Robertsdale Police Department 4,723 14 12 0.30 701 1 0 0.14 Agency Silverhill Police Department Summerdale Police Department Baldwin County Sheriff Baldwin County Total Alabama 679 6 1 0.88 84,114 78 145 0.09 164,056 296 263 0.18 4,599,030 10,719 5,537 0.23 U.S. ~0.20 2 3 4 5 6 7 8 9 10 11 12 13 14 Source: ACJIC 2007 15 Table 38. 2007 Fire Protection Resources Fire protection services in Gulf Shores and Orange Beach are provided by municipal fire departments, and are shown in Table 38. Both departments also provide Hazardous Materials (HAZMAT) response, high angle rescue, confined space rescue, and water rescue. Gulf Shores Fire Rescue maintains a minimum on-duty staff of five personnel at all times, and their staff of firefighters includes twelve trained paramedics. The Gulf Shores Fire Rescue fleet includes five pumpers, two ladder trucks, three emergency medical services (EMS) vehicles, and one heavy rescue unit (GSFR 2007). Orange Beach Fire Rescue maintains a minimum on-duty staff of ten personnel at all times, and their staff of firefighters includes fifteen trained paramedics. Their fleet includes five ladder trucks, one fireboat, one HAZMAT response trailer, one 4x4 off-road response vehicle, one beach rescue all-terrain vehicle, and eight EMS vehicles (OBFR 2007). Paid Firefighters Volunteer Firefighters Stations Gulf Shores Fire Rescue 34 22 3 (1 unmanned) Orange Beach Fire Rescue 38 9 4 (2 unmanned) Agency 16 17 18 19 20 21 22 Sources: GSFR 2007; OBFR 2007. Table 39 shows reported crimes in 2006 in Baldwin County. Violent crimes include homicide, rape, robbery, and assault, while property crimes are defined as burglary, theft or larceny, and motor vehicle theft. Accounting for differences in population, the total violent and property crimes reported in Baldwin County in 2006 were generally less than those reported in the State of Alabama. There were slightly less Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-54 Draft Environmental Impact Statement 1 Table 39. 2006 Violent and Property Crimes in Baldwin County, Adjusted to Population Violent and Property Crime Reports per 100 Residents Bay Minette Police Department Homicide Rape Robbery Assault Burglary Theft Motor Vehicle Theft 0.00 0.01 0.18 0.52 0.86 2.91 0.29 0.15 Daphne Police Department 0.00 0.02 0.05 0.37 0.51 2.42 Elberta Police Department 0.00 0.00 0.34 1.36 3.74 11.39 1.19 Fairhope Police Department 0.00 0.02 0.05 0.03 0.48 2.28 0.16 Foley Police Department 0.01 0.04 0.37 0.47 1.64 6.98 0.81 Gulf Shores Police Department 0.00 0.05 0.15 0.45 1.42 4.45 0.26 Loxley Police Department 0.00 0.07 0.07 0.14 2.42 6.08 1.38 Orange Beach Police Department 0.02 0.08 0.12 0.31 1.08 5.92 0.29 Robertsdale Police Department 0.00 0.00 0.04 0.06 0.32 1.29 0.04 Silverhill Police Department 0.00 0.00 0.00 0.14 0.57 3.14 0.14 Summerdale Police Department 0.00 0.00 0.44 0.29 3.09 7.36 1.32 Baldwin County Total 0.00 0.01 0.01 0.09 0.35 0.64 0.03 Alabama 0.01 0.03 0.14 0.26 0.89 2.41 0.29 2 3 4 5 6 7 8 9 10 11 Source: ACJIC 2006 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 3.5.5.3 Health Care reported rapes in Baldwin County than Alabama per 100 residents. Between 2005 and 2006, reports of rape and robbery increased significantly in Orange Beach, doubling and tripling respectively (ACJIC 2006). In Gulf Shores, the number of thefts stayed relatively the same between 2005 and 2006, and assaults dropped slightly. The number of reported rape and robbery incidences roughly doubled in Gulf Shores between 2005 and 2006. General trends in the past five years indicated a decrease in property crime in 2002 and 2003, followed by a sharp increase in 2004 and 2005, leading to the high number of reports relative to the State. No violent crime trends in the last five years were evident (ACJIC 2006) in Gulf Shores and Orange Beach. Medical transportation is provided by Medstar, a private ambulance company. Gulf Shores and Orange Beach each have one Medstar ambulance stationed in the city. Patients are usually transported to South Baldwin Regional Medical Center in Foley but can also be transported to Thomas Hospital in Fairhope or Baptist Hospital in Pensacola, Florida. Cases with serious trauma are normally transported by helicopter to Baptist Hospital (via BaptistFlight, stationed in Evergreen, AL). Within the year, MedEvac has plans to station one helicopter in Gulf Shores to provide medical transport to Mobile (GSFM 2007). Five hospitals in Baldwin County and the surrounding area receive patients from Gulf Shores and Orange Beach. Their locations, approximate distance from Gulf Shores and Orange Beach, and number of beds and physicians are shown in Table 40. The closest hospital is the South Baldwin Regional Medical Center in Foley, which provides 24-hour emergency room services and family practice in addition to a range of medical and surgical services. Thomas Hospital in Fairhope also provides general medical services and offers a Cancer Center and a renowned cardiovascular program. Baptist Hospital in Pensacola is the closest full-service hospital to the area, providing a full-range of medical, obstetrical, and surgical services and the Cancer Institute. The largest hospital in the region is Mobile Infirmary Medical Center, which also offers a full-range of medical services with a renowned open heart surgery program. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-55 Draft Environmental Impact Statement 1 Table 40. Hospitals Serving Gulf Shores and Orange Beach Facility South Baldwin Regional Medical Center Total Beds Physicians Foley, AL 15 112 62 Pensacola, FL 30 492 249 Thomas Hospital Fairhope, AL 35 150 123 Bay Minette, AL 50 55 35 Mobile, AL 55 704 n/a Mobile Infirmary Medical Center 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 Approximate Distance (miles) Baptist Hospital North Baldwin Infirmary 2 Location Sources: SBRMC 2007; BHC 2007; TH 2007; NBI, 2007; MIMC 2007. 3.5.6 Environmental Justice On February 11, 1994, President Clinton issued Executive Order 12898, Federal Actions to Address Environmental Justice in Minority and Low-Income Populations. This Executive Order is designed to focus the attention of federal agencies on human health and environmental conditions in minority communities and low-income communities. Environmental justice analyses are performed to identify potential disproportionately high and adverse impacts from proposed actions and to identify alternatives that might mitigate these impacts. Population and housing data from the 2000 Census were used for this analysis.8 Minority populations included in the census are identified as Black or African American, American Indian and Alaska Native, Asian, Native Hawaiian and other Pacific Islander, and other. Hispanic or Latino populations, which can be of any race, are also included. Poverty status, used in this EIS to define low-income status, is reported as the number of persons with income below the poverty level. The 2000 Census defines the poverty level as an annual income of $8,794 or less for an individual, and an annual income of $17,603 or less for a family of four (USBC 2000c). The ROI had a lower percentage of minority residents than Alabama and the United States, as shown in Table 41. In 2000, 87.1 percent of the ROI population (Baldwin County) was white and 10.3 percent was black or African American. All other racial groups combined totaled approximately 2.6 percent of the population, while 1.8 percent of residents were of Hispanic origin. Tracts 115 and 114.01 had the largest minority populations, greater than that for Baldwin County, with 9.5 percent black or African American and 3.6 percent of Hispanic origin in Tract 115, and 15.4 percent black or African American and 4 percent of Hispanic origin in Tract 114.01. However, the proportion of minority populations in these tracts was less than that for the State. Census Tract 114.04, which contains Gulf Shores and Ocean Beach, is more than 96 percent white, and 1.8 percent of its residents are Hispanic (USBC 2000b). The Census Bureau bases the poverty status of families and individuals on 48 threshold variables, including income, family size, number of family members under the age of 18 and over the age of 65, and amount spent on food. In 2000, 10 percent of Baldwin County residents were classified as living in poverty, lower than both the State and Nation. By census tract, the greatest percentage of persons living in poverty was in Tract 114.01 (13.1 percent), and the lowest was Tract 114.04 (9.3 percent). 8 Data from the 2000 Census are the latest reliable and consistent data regarding the ethnic composition and poverty status of the population, especially for sub-county divisions such as towns or census tracts. Later estimates from various sources may use different methodologies and do not provide accurate comparisons among areas. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-56 Draft Environmental Impact Statement 1 2 Table 41. 2000 Race, Ethnicity, and Poverty Status Tract 114.01 Tract 114.03 Tract 114.04 Tract 115 Tract 116 Gulf Shores Orange Beach Baldwin Co. Alabama United States White 87.0% 97.2% 96.3% 81.4% 95.8% 97.5% 94.8% 87.1% 71.1% 75.1% Black/ African American 9.5% 0.9% 0.2% 15.4% 1.6% 0.2% 0.4% 10.3% 26.0% 12.3% American Indian, Alaska Native 0.5% 0.6% 0.6% 0.6% 0.6% 0.4% 0.7% 0.6% 0.5% 0.9% Asian 0.3% 0.2% 0.3% 0.6% 0.3% 0.3% 0.2% 0.4% 0.7% 3.6% Native Hawaiian, Other Pacific Islander 0.1% 0.0% <0.1% <0.1% <0.1% <0.1% 0.0% <0.1% <0.1% <0.1% Other 1.0% 0.1% 1.0% 1.1% 0.5% 0.4% 2.0% 0.5% 0.7% 5.5% Source: USBC 2000b 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 3.5.7 Protection of Children 23 3.6 RECREATIONAL RESOURCES 24 25 26 27 28 29 30 With 32 miles of Gulf of Mexico coastline and 26 miles of bay waterfront, Baldwin County has many recreational opportunities for residents and also is a popular tourist destination (BCEDA 2007). In 2006 an estimated 4.4 million people visited Baldwin County, spending $1.96 billion (ALBTT 2006). Consequently, the tourism industry is a vital part of the Alabama Gulf Coast economy, where it supports 39,333 travel-related jobs county-wide (ALDTT 2006). Results of previous studies have shown that approximately 73% of all municipal revenue in Gulf Shores, Orange Beach and Foley was directly attributed to visitor spending (ALDTT 2007). On April 21, 1997, the President issued Executive Order 13045, Protection of Children from Environmental Health Risks and Safety Risks. This Executive Order directs each federal agency to ensure that its policies, programs, activities, and standards address disproportionate risks to children that result from environmental health risks or safety risks. O 13045 recognizes that a growing body of scientific knowledge demonstrates that children could suffer disproportionately from environmental health risks and safety risks. These risks arise because children’s neurological, immunological, digestive, and other bodily systems are still developing, children eat more food, drink more fluids, and breathe more air in proportion to their body weight than adults, children’s size and weight could diminish their protection from standard safety features, and children’s behavior patterns make them more susceptible to accidents because they are less able to protect themselves. Therefore, to the extent permitted by law and appropriate, and consistent with the agency’s mission, the President has directed each federal agency to (1) make it a high priority to identify and assess environmental health risks and safety risks that could disproportionately affect children, and (2) ensure that the agency’s policies, programs, and standards address disproportionate health risks to children that result from environmental health risks or safety risks. Examples of risks to children include increased traffic volumes and industrial or productionoriented activities that could generate substances or pollutants that children could come into contact with or ingest. Actions or alternatives indicating potential disproportionate risks to children will be identified and addressed in Section 4 of this EIS. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-57 Draft Environmental Impact Statement 1 2 3 4 5 According to visitor profile and occupancy statistics compiled by the Alabama Gulf Coast Convention and Visitors Bureau, the most cited reason for tourists choosing the Alabama Gulf Coast in 2005-2006 was the “nice” beaches. The top three area attractions also visited by tourists in 2005-2006 were the Tanger Center (48.25% of respondents), Fort Morgan (23.12% of respondents), and the Alabama Gulf State Park (21.3% of respondents) (ALBTT 2006). 6 7 8 9 10 11 12 3.6.1 13 14 15 16 17 18 19 3.6.2 20 21 22 23 24 25 Boating Access The FLC has one public boat ramp at Canal Park near the S.R. 59 Bridge. Other boating access points in the vicinity of the FLC (i.e., in Bon Secour Bay, Wolf Bay, Bay La Launch, and Arnica Bay) include 5 private boat ramps at area marinas and 6 public boat ramps (Figure 37). One marina, the Homeport Marina, is on the FLC just east of the S.R. 59 Bridge. The Homeport Marina has 76 wet slips (Homeport Marina 2006). Boats using the FLC can originate at any of these access points or from more distant locations. FLC Recreational and Commercial Use Information on existing recreational and commercial use of the FLC was taken from a vessel capacity study completed by Dial Cordy and Associates (DCA) in 2001 in response to a permit application received by the USACE for a 60-slip marina in association with a condominium and commercial complex (DCA 2001). The study estimated the impact that a proposed marina (and future marina projects) might have on commercial use in the waterway. The USACE’s main concern was to ensure that any marina projects they permitted on the FLC would not interfere with the safe passage of commercial vessels. 3.6.2.1 Dial Cordy and Associates Vessel Survey The FLC Vessel Survey provides data on recreational and commercial traffic on the waterway from 6 weekend days from June 2, 2001, through August 4, 2001. All surveys were conducted on non-holiday weekends (i.e., non-peak usage periods), for which favorable boating weather was forecasted. The 6 survey days consisted of three Saturdays and three Sundays; only 2 survey days consisted of consecutive weekend days. Vessel use data from the survey are summarized in Table 42. 26 27 Table 42. Number of vessels observed during the 6 survey days Vessel designation Commercial Recreational Total 28 Total observations 79 (9%) 803 (91%) 882 (100%) Daily range Daily average 4–26 104–163 108–177 13 134 147 Public boat ramp use 5 (6%) 123 (15%) 128 (15%) Source: DCA 2001 Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-58 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 Figure 37. Private and public boating access near the FLC Source: ALDCNR 2006 Over the 6 survey days, 123 recreational vessels (15 percent; 0=20 per day) and 5 commercial vessels (6 percent; 0=1 per day) used the public boat ramp at Canal Park. Commercial and recreational vessel use on Saturdays and Sundays was nearly equal, but recreational use was higher during the middle of the day (10 a.m.–4 p.m.) than in the morning or late afternoon (Table 43). One-third of recreational vessels were observed between 7 a.m.–10 a.m. and 4 p.m.–7 p.m. combined, and two-thirds of recreational vehicles were observed between 10 a.m.–4 p.m. Commercial vessel use was slightly higher in the morning (7 a.m.–10 a.m.) than during other periods but was generally evenly distributed throughout the day. Recreational vessel use of the waterway outweighed commercial vessel use. The busiest period of use of the waterway corresponded to the busiest period of use by recreational vehicles, or midday. An average of 15 recreational vessels per hour was observed during the midday period, and commercial traffic was fairly consistent at approximately 1 vessel per hour throughout the day. Table 43. Time of vessel observations by vessel designation and time period Vessel designation Commercial Recreational Time period total 21 Time period of observation (number, percentage) 7 a.m.–10 a.m. 10 a.m.–4 p.m. 4 p.m.–7 p.m. 25 (32%) 38 (48%) 16 (20%) 92 (11%) 537 (67%) 174 (22%) 117 (13%) 575 (65%) 190 (22%) Source: DCA 2001 Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-59 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 The FLC is approximately 10 miles long, making it 52,800 LF. Commercial vessels using the FLC average approximately 100 feet long, and an average of one commercial vessel per hour was observed during the survey. So, commercial vessel use of the FLC during a 1-hour period would be 100 LF, and during an average 1-hour period, this space would be occupied by a commercial vessel in only one direction (e.g., east to west). Recreational vessels observed during the DCA survey averaged approximately 20 feet long. A safe buffer between all vessels is 150 feet. Adding the 150-foot buffer to the length of each vessel, a commercial vessel would occupy 250 LF of the waterway in one direction only during a 1-hour period. Recreational vessels would occupy an average of 170 LF each. With 52,550 LF of the waterway available to recreational vessels in one direction (52,800-250 for the one commercial vehicle passing in an hour) and the entire length of the waterway available to recreational vehicles in the opposite direction (e.g., west to east), a maximum physical capacity of 619 recreational vessels could be moving through the cut simultaneously. If recreational vessels travel an average of 20 mph, it would take one half-hour for a recreational vessel to pass through the FLC. In a one-hour time span, therefore, 1,238 recreational vessels could hypothetically pass through the FLC. Add this to the one commercial vessel that passes through the waterway per hour, and the maximum hourly traffic through the FLC is 1,239 commercial and recreational vessels. 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 49 3.6.2.2 Taylor Engineering Vessel Survey Although 1,239 vessels using the FLC per hour is not realistic, the number represents the number of vessels that could physically be placed in the given space per hour while still providing reasonable vessel safety. The current non-peak use of 11 recreational vessels and one commercial vessel per hour within the FLC represents less than 1 percent of the physical capacity. Taylor Engineering staff conducted a vessel traffic count over a holiday weekend with favorable weather conditions on July 1 and 2, 2006, to evaluate recreational traffic quantity (Appendix R). The observers recorded all marine traffic on the FLC between 7 a.m. and 7 p.m. from locations at the S.R. 59 Bridge and the Foley Beach Expressway Bridge. Observations also included the time, vessel travel direction into the field of view, registration, make of vessel, type of vessel, speed, number of people aboard, and travel direction out of the field of view. Comparison and correlation between the observed data at each station allows insights into travel patterns and operator behavior such as speed through the waterway between stations. Vessel observations included commercial vessels (tug and barge combinations or commercial fishing), recreational vessels (motor or sail), and personal watercrafts (PWC). The total number of vessel observations for the S.R. 59 bridge site was 598 on July 1 and 633 on July 2. Maximum values include 87 vessels observed in an hour, between 3 p.m. and 4 p.m. on July 2, 2006. These observations represent the number of records in the daily data set and include many vessels with multiple observations. The observation data indicates that boats under 25 feet represent 72 percent of the recreational vessel traffic with four percent unclassified. Recreational motor boats represent about 90 percent of the observations with five percent PWC, three percent sailboats, one percent commercial fishing boats, and one percent tugs. Alabama registrations represented about 83 percent of the vessels with recorded registrations. The size classification and state of registration data show similar values to those in the DCA study. Boat launches were also recorded at the observation sites. Over the two days, 110 vessels launched from the Canal Park boat ramp under the S.R. 59 Bridge and 91 returned; 133 left Homeport Marina and 133 returned; 72 visited the fuel dock next to Homeport Marina, and 48 visited Lulu’s Restaurant. The daily use of the public boat ramp in 2006 (55 per day) far exceeds the observations by DCA in 2002 (20 per day). Notably, the Homeport Marina, fuel dock and, LuLu’s Restaurant did not exist in 2002. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-60 Draft Environmental Impact Statement 1 2 3 4 5 Vessel names and appearances, as well as registration numbers were used to correlate boat movement between stations. Taylor Engineering staff assigned a distinct boat number to vessels correlated between stations with reasonable certainty. Vessels with distinct boat numbers were then used to determine the percentage of multiple vessel sightings and the approximate average speed. Approximately 84 percent of the vessel observations over the two days correlate to a vessel later given a distinct boat number. 6 7 8 9 10 11 12 13 3.6.3 14 15 16 17 18 19 20 21 3.6.4 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 Boating Safety In Alabama, all persons 12 years of age and older who operate a motorized vessel must be certified to operate on state waters. In general, a state requirement for boater certification increases recreational boaters’ awareness of safe vessel operation. The area of the GIWW near the S.R. 59 Bridge is a posted no-wake zone. DCA reported that most recreational vessel operators voluntarily observed the restriction. During the vessel survey, very few incidents of poor recreational vessel operation were observed. Recreational vessels that did not reduce their speed at the S.R. 59 Bridge was the most commonly observed safety issue. Recreational Sanitary Services Sanitary services for recreational boaters traveling through the FLC are limited. The Homeport Marina has a pump-out station, and the Fort Morgan Marina, on Bon Secour Bay, has a portable pump-out unit. The Alabama Clean Boating Act requires all marinas with boat customers that use MSDs with holding tanks (MSD Type III) to install a boat sewage pump-out station (ALDCNR 2006). The law also restricts where boats with sewage holding tanks can stay: they cannot be moored, docked, stored, or anchored at a marina that does not have a pump-out facility (except in safety emergencies). 3.6.5 Gulf State Park The Alabama Gulf State Park consists of 6,150 acres with five miles of sand beaches and three freshwater lakes: Lake Shelby (700 acres), Middle Lake (350 acres), and Little Lake (100 acres). Gulf State Park has modern and primitive camping, cottages, trails and fishing. There are also tennis courts, group pavilions, an 18-hole golf course, fishing, swimming, and water skiing, nature programs and picnic areas. The Alabama Gulf State Park attracts approximately one million people annually (Gulf State Park 2007). Visitors to Gulf State Park can chose to stay in one of the parks’ cabins, cottages, or campsites. There are a total of 20 cabins in Gulf State Park. There are one bed/one bath and two bed/one bath in-woods cabins, and two bed/one bath and three bed/two bath lakeside cabins. There are 11 three bed/three bath cabins, and 496 camping sites offering modern bathhouses and paved parking pads for RV’s. Gulf State Park has a total of five miles of beach in Gulf Shores and Orange Beach. There is also a Beach Pavilion area that offers a large concession stand open seasonally, air conditioned bathrooms with showers open year-round, and multiple picnic tables. The main beach area in Gulf Shores can be accessed from the Beach Pavilion, and there is a $5 fee for each car. Access to the Orange Beach areas is free to the public. Other recreational opportunities within Gulf State Park include an 18-hole golf course that is open seven days a week and offers a full pro shop and snack bar. Fishing for freshwater fish is offered in the park’s 900 acre Lake Shelby. Permits to fish Lake Shelby are required for all fishermen who are not staying in the park, and all fishermen must purchase an Alabama State Fishing License. Historically saltwater fishing has been offered from the beach and an 825 ft. pier on the Gulf of Mexico. This pier was destroyed by Hurricane Ivan, but construction is currently underway to replace it with a new, larger pier. When this pier is completed, this will be the only public pier on the Gulf of Mexico. There are also 13 named nature trails throughout the park that are open to hikers and cyclers. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-61 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 3.6.6 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 49 3.6.7 Water Recreation Like other coastal communities, the area around the FLC is home to countless water related recreational opportunities. The most abundant recreational opportunity is chartered fishing trips. In the Gulf Shores and Orange Beach area there are over 51 listed chartered fishing services and 11 charter fishing booking agencies. These charters offer a variety of fishing opportunities including offshore, inshore, bottom fishing, trolling, fly fishing, and over night trips. Along with chartered fishing in the area, there is also an abundance of fishing tournaments held throughout the year in and around the project area. Dolphin cruises and party/luxury cruises are also widely available. Once a year, Orange Beach hosts the Thunder on the Gulf powerboat races over a weekend in mid-August. Visitors can meet the racers and get autographs, listen to live music, and watch multiple classes of powerboat races. In 2006, this event drew $5.674 million in total spending; with a total tax impact of $524,066 (Foster 2007). Other water recreation opportunities available in the area include dive shops and parasailing. Other Recreational Resources With a 12-month playing season, the area is also attractive to golfers. Gulf Shores and Orange Beach are home to seven golf courses, and nine others are nearby, for a total of 288 holes (AGCCVB 2007). Arnold Palmer designed the Cotton Creek and Cypress Bend courses (GCGA 2007). These golf courses offer full service golf shops and club houses, link side condominiums, and upscale shopping. Fort Morgan is also a popular tourist attraction, although visitation has been impacted by Hurricane Ivan in 2004 and Hurricane Katrina in 2005. The Fort Morgan site was used as early as the 16th century by the Spanish, and construction of what is now known as Fort Morgan began in 1819 and was completed in 1834. Best known for its role during the American Civil War, Fort Morgan was a central point in the Battle of Mobile Bay in 1864. The numbers of visitors to Fort Morgan peaked in 2003 at 88,670; dropped to 61,229 in 2005; and climbed to 66,283 in 2006 (Blakenship 2007). Fort Morgan experiences a surge of visitors in April and October, which corresponds to the spring and fall bird migrations (Blakenship 2007). Bird watchers take advantage of the Fort Morgan Loop birding trail, which is part of the Alabama Coastal Birding Trail. Fort Morgan is an important stopover for spring and fall neotropical migrants. The area is also considered a migrant trap, which results when adverse weather forces birds down in a "fallout." Fallouts tend to occur in spring. In fall, hundreds of migrating hawks can be seen moving west. There are also other area wide opportunities for birdwatching. The Alabama Coastal Birding Trail also includes a South Baldwin County loop trail, Gulf Shores-Orange Beach loop trail, and Eastern Shore, Mobile Bay Causeway and Blakeley Island loop. Common species of birds to observe along the Gulf Shores-Orange Beach Loop include various loons, sparrows, gulls, wading birds, and waterfowl. The Gulf Shores and Orange Beach area hosts a wide range of family-oriented attractions, including the Alabama Gulf Coast Zoo, water and amusement parks, and public beaches. The Alabama Gulf Coast Zoo is home to more than 290 animals, such as lions, tigers, bears, monkeys and macaws. Other attractions include a petting zoo, reptile house, aviary and daily animal shows in the summer. Some of the larger water and amusement parks in the area include The Track Family Recreation Center, Waterville USA, and Adventure Island. There are fifteen access points to the public beaches in Gulf Shores, although three of those access points are temporarily closed following Hurricane Ivan. The annual shrimp festival in mid-October attracts more than 300,000 visitors and features more than 300 vendors of arts, crafts, food, and other items. The festival has been estimated to bring in 20 million dollars in revenue (GSCC 2007). The area offers many other indoor and outdoor recreational activities. Advertised as a large Riviera Centre, the Tanger Center has over 120 brand name outlet stores and is located on Hwy 59 in Foley. This area attraction was cited as the most visited area attraction in 2005-2006 according to statistics compiled Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-62 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 by the Alabama Gulf Coast Convention and Visitors Bureau (ALDTT 2006). There are also at least six art galleries in the Gulf Shores and Orange Beach area that exhibit and sell fine art and items of regional interest. There are two multiplex cinemas and a community theater. Nearby, Pensacola hosts the National Museum of Naval Aviation, while Mobile hosts the Exploreum Museum of Science and the U.S.S. Alabama Battleship Memorial Park. The Gulf Shores Museum and Orange Beach Indian and Sea Museum highlight the region’s history. Along with Fort Morgan, Fort Gaines on nearby Dauphin Island is an historical Civil War site. 14 3.7 GEOLOGY AND SOILS 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 3.7.1 Area Five, the largest area division in Baldwin County, consists of plateaus and ridge tops underlain by the Citronelle formation, which rests on the Hattiesburg formation. Area Five was formed during the Pliocene Age (5.3–1.6 million years ago) and sediment material is composed of sandy, thin layers of clay that are red and cross bedded. Types of clay are gray and purple, red, or yellow. Colors of clay vary upon the degree of weathering. 44 3.7.2 45 46 47 Baldwin County is divided into 10 soil associations. Three associations are found in the vicinity of the FLC: Lakeland Plummer Association, Norfolk-Klej-Goldsboro Association, and Lakewood-St. Lucie- Opportunities abound for observing nature. Visitors can enjoy the Bon Secour National Wildlife Refuge, the Biophilia Nature Center, the Weeks Bay National Estuarine Research Reserve, and the Minamac Wildflower Bog, as well as numerous parks in the area. The world-famous Bellingrath Gardens and Home are a short drive away. Geology Baldwin County, Alabama, is part of the Gulf Coastal Plain Geologic Region, known as the Lower Coastal Plain. Five different types of geologic formations divide Baldwin County into five areas. Area One is in the northeast/east section of the county. This physiographic area includes river flood plains and terraces. This region was formed in the Recent (present–10,000 years ago) or Pleistocene Age (1.6 million–10,000 years ago) and consists mainly of silt and clay from sediments carried from areas farther north by the Tombigbee and Alabama Rivers. Elevation in this area ranges from sea level to 20 feet above sea level. Area Two is in the southern region of the county and was formed during the Pleistocene Age. The physiographic area of this region is marine terraces, which consist of marine sands and clays. Area Two overlies the Citronelle formation, which stretches 15 miles wide along Baldwin County’s coastline. Elevation in Area Two ranges from 10 to 100 feet above sea level. The FLC falls predominantly within Area Two. Area Three is south of Area Two and is composed of Baldwin County’s coastal beaches along the Gulf of Mexico. Area Three was formed during the Recent Age and consists of white and yellow sands. Elevations in this region range from sea level to 20 feet above sea level. Area Four is directly east of the Tensaw River and is underlain by Hattiesburg clay. This region was formed during the Miocene Age (23.7–5.3 million years ago) and is where the majority of hilly soils are found. Hattiesburg clays in this region consist of white, pink, or purple clay and sand from the Miocene Age. Elevation in this area ranges from 50 to 300 feet above sea level. Soils 3.7.2.1 Soil Associations Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-63 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 Leon Association (Figure 38). Lakeland Plummer Association is found along creeks and rivers in the southern and eastern parts of the county. Norfolk-Klej-Goldsboro Association is found in the southern and southeastern region of the county near Foley. Lakewood-St. Lucie-Leon Association is in the coastal region on low sand dunes and in low, wet areas between the dunes. 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 3.7.2.2 Soil Types Lakeland-Plummer Association consists of nearly level, poorly drained to very poorly drained soils of bottom lands and gently sloping to moderately steep, drained, loamy, fine sands of uplands. Lakeland soils account for 34 percent of this association and are composed of deep and excessively drained, nearly level to sloping soils with yellowish-brown, loamy, fine sand throughout the soil profile. Of this association, 15 percent is Plummer soils consisting of poorly drained, gray, loamy sand that is almost level to very gently sloping. Norfolk-Klej-Goldsboro Association is nearly level or very gently sloping soils of uplands and bottom lands. Norfolk soils occupy three percent of this association and have a dark, grayish-brown surface layer of dark, grayish-brown, and the subsoil is yellowish-brown, heavy, fine, sandy loam. Klej soils occupy 17 percent of this association and have a surface layer of dark, grayish-brown, loamy, fine sand, and the subsoil is mottled, light, yellowish-brown, loamy fine sand. Goldsboro soils occupy 15 percent of this association, are moderately well-drained and have a surface layer of very dark, grayish-brown, fine sandy loam. Goldsboro subsoil is olive-yellow to yellowish-brown. In the Lakewood-St. Lucie-Leon Association, Lakewood sand occupies 13 percent and is deep and excessively drained. St. Lucie-Leon-muck complex occupies 10 percent of this association. Water occupies more than two-fifths of this association and coastal beaches also occupy a fairly large amount of acreage. Six soil types are present in the vicinity of the proposed project locations: Hyde and Bayboro soils and muck; made land; Plummer loamy sand, 0 to 5 percent slopes; Scranton loamy fine sand, 0 to 2 percent slopes; tidal marsh; and wet, loamy, alluvial land. Hyde and Bayboro soils and muck are found in low areas or in depressions. They receive water as the result of overflow or seepage from adjacent, higher-lying areas. These soils are extremely acidic, very poorly drained, and nearly level. They are saturated with standing water much of the time. The natural vegetation on these soils is cypress (Taxodium distichum), slash pine, sweet gum (Liquidambar styraciflua), and bay (Laurus nobilis) trees. The understory is wax myrtle, titi (Cyrilla spp.), and gallberry (Illex glabra). Man-Made land consists mainly of a layer of gray sand that is 3 to 6 feet thick. The sand, pumped from Mobile Bay and from the channels of streams, was spread over areas of tidal marsh or swamp. The areas of made land are mainly along the causeway and are used as building sites. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-64 Draft Environmental Impact Statement 1 2 Figure 38. Soil Types Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-65 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 Plummer loamy sand, 0 to 5 percent slopes is a deep, poorly drained soil on uplands. This soil type is very low in natural fertility and in organic matter content. Its capacity for storing available moisture is low, and it has rapid permeability. In Plummer loamy sand, water infiltrates slowly, the soil has very slow runoff and a high water table, and there is little or no hazard of erosion. Scranton loamy fine sand, 0 to 2 percent slopes are deep, somewhat poorly drained soils found on uplands. This soil type is low in natural fertility, and its surface layer is medium to high in content of organic matter. Its capacity for storing available moisture is low, and permeability is rapid. Water infiltrates rapidly, and the water table is high. The tidal marsh land type consists of both freshwater and saltwater marshes. It occurs along the Gulf Coast and bayous in the southern and western parts of the county. At high tide, the areas are flooded by saltwater from the Gulf of Mexico and backwater from streams. Tidal marsh generally has no trees, but there are a few willows (Salix spp.) and a dense cover of marsh cane (Phragmites spp.), marsh grass (Spartina spp.), and rushes (Juncaceae spp.). The areas are used mainly for wildlife and recreation, but soil material has been pumped over some parts to form islands and building sites. Wet loamy alluvial land is saturated by seepage water, and it is subject to frequent overflow. In places, water stands on the surface, and, it consists of accumulations of muck and peat that overlie a compacted mineral soil material. The vegetation consists of sweetgum, blackgum (Nyssa sylvatica), bay, yellow poplar (Liriodendron tulipifera), and other low-quality hardwoods. There are also scattered slash pine and cypress. The understory is gallberry, wax myrtle, and vines. 3.7.2.3 Hydric Soils Hydric soils are found in association with wetlands and are defined as “soils formed under conditions of saturation, flooding, or ponding long enough during the growing season to develop anaerobic conditions in the upper part” (USACE 1987). There are isolated areas of hydric soils along the FLC, mostly occurring between C.R. 4 and the western portion of the FLC near Oyster Bay. 3.7.2.4 Soil Erosion 28 29 30 31 32 33 34 35 36 37 38 39 Soil erosion and associated sloughing of soil into the FLC has been observed along the northern shoreline of the waterway. This erosion is a direct result of wave action due to barge and recreational boat traffic. There is a limited amount of shoreline protection, in the form of rock revetment, along the FLC shoreline. This protection is concentrated in the eastern portion of the waterway where the FLC curves towards the northeast as it enters Wolf Bay. The unprotected northern shoreline consists of upland pine trees directly along the waterway and offers limited vegetative buffer protection for soils. It has been observed that barges tie-up to the trees along the northern shoreline, which often permanently damages the trees and eventually leads to removal of the tree as a vegetative buffer. The southern shoreline is developed, consisting of single-family homes with boat docks. These residences protect the shoreline with sheet piling, which significantly reduces erosion rates. 40 3.8 ECOLOGICAL SYSTEMS 41 42 43 44 45 46 3.8.1 Overview The FLC lies within Southeastern Plains ecoregion of Alabama. This region is also known as the Coastal Plain or East Gulf Coastal Plain (ALDCNR 2005). This area of the Gulf Coast has a subtropical climate, with little to no dry season, and has an average rainfall of 64 inches per year (USDA 1964). The climate of this region offers a nearly continuous growing season and supports a diverse population of vegetative species and upland and wetland habitats. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-66 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 The FLC is hydrologically connected to two bays—Wolf Bay to the east and Oyster Bay to the west. Wolf Bay is hydrologically connected to Perdido Bay and has several tributaries, including Wolf, Sandy, Miflin, and Hammock Creeks. Oyster Bay is hydrologically connected to Bon Secour Bay. The FLC is in the vicinity of two Gulf Ecological Management Sites (GEMS), the Orange Beach Maritime Forest to the south, and the Bon Secour National Wildlife Refuge to the west. GEMS are defined as a geographic area that has special ecological significance to fish, wildlife, and other natural resources or a geographic area that represents unique habitats (SARPC 2001). The Orange Beach Maritime Forest is a 588-acre forest containing a diverse combination of habitats including maritime forest with a sphagnum/cypress swamp, wetlands, and a large pitcher plant (Sarracenia spp.) bog. The Bon Secour National Wildlife Refuge contains 7,000 acres of wildlife habitat for migratory birds, nesting sea turtles and the endangered Alabama beach mouse (Peromyscus polionotus ammobates). 3.8.2 Vegetative Communities Longleaf pine communities were historically dominant in the FLC vicinity before extensive clearing for agriculture, conversion to loblolly pine (Pinus taeda) plantations, and fire suppression (ALDCNR 2005). Most of the forested land loss in Alabama has occurred along the Gulf Coast, and many of the former longleaf pine communities have succeeded to hardwoods as a result. Though longleaf pine communities have declined in the area, the Gulf Coast region sustains a combination of both forested and non-forested habitats. The ALDCNR has identified six ecological vegetative habitats in the vicinity of the FLC: wet pine savanna and flatwoods, dry longleaf pine forest, maritime forest and coastal scrub, bogs and seepage communities, beach and dune, and estuarine and marine. Detailed descriptions of each of these habitats can be found in the 2005 ALDCNR’s Comprehensive Wildlife Conservation Strategy and are summarized below. The vegetative communities within the proposed development locations include wet pine savanna and flatwoods and dry longleaf pine forests. In addition, wetland areas, including isolated wetlands, can be found on some of the proposed development locations. 3.8.2.1 Wet Pine Savanna and Flatwoods This habitat is described as open pine woodlands occupying broad coastal flats and sloping plains, principally in the Gulf Coast Flatwoods of the Southeastern Plains. Overstory vegetation is characterized by longleaf pine and slash pine. The understory ranges from dense shrubs to open and herbaceous dominated, and is heavily influenced by fire history. Understory vegetation found in this habitat often includes beaksedge (Rhynchospora fascicularus), toothache grass (Ctenium aromaticum), switchgrass (Panicum virgatum), goldenrod (Solidago virgaurea), pitcherplants, and sunflowers (Helianthus annuus). Much of this habitat has been lost to clearing, draining, development, and agriculture. It is estimated that less than five percent of the original acreage of wet pine savanna habitat remains in the Atlantic/Gulf Coastal Plain (MDWFP 2005). The remaining habitat is highly fragmented, resulting in a decline of habitat quality. 3.8.2.2 Dry Longleaf Pine Forest Longleaf pine habitats range from moist to very well-drained sites, including mesic pine flatwoods, pine/scrub oak, sandhill, and xeric sandhill scrub. Fire frequency and severity determine the types of vegetation associated with longleaf pine. Grasses associated with longleaf pine in Gulf Coastal Plain include bluestem (Andropogon spp.) and panicum (Panicum spp.). A reduction in fire frequency causes hardwoods and other pines to encroach on longleaf pine. Hardwood and pine species associated with longleaf pine on the Gulf Coastal Plain include slash pine, loblolly pine, shortleaf pine (Pinus echinata), blackgum, sweetgum, persimmon (Diospyros virginiana), and sassafras (Sassafras albidum). The Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-67 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 common shrubs include gallberry, yaupon, southern bayberry (Morella caroliniensis), shining sumac (Rhus copallina), blueberry (Vaccinium spp.), huckleberry (Gaylussacia spp.), and blackberry (Rubus spp.). Herbaceous bogs and isolated wetlands are often found in association with this habitat. 3.8.2.3 Maritime Forest and Coastal Scrub This habitat is composed of woody vegetation, often dominated by live oak, and is present on barrier islands and near-coastal strands. Vegetation structure and composition are influenced by salt spray, coastal winds, and extreme weather events. Understory vegetation found in this habitat includes red bay (Persea borbonia), American holly (Ilex opaca), sparkleberry (Vaccinium arboretum), wax myrtle, saw palmetto (Serenoa repens), and muscadine vine (Vitis rotundifolia). Much of this habitat in coastal Alabama has been lost to clearing and development, with the remaining forest highly fragmented. 3.8.2.4 Bogs and Seepage Communities Fire-maintained herbaceous seepage bogs occur in the lower portions of the Southeastern Plains. This habitat is generally found on gentle slopes, maintained by constant seepage zones or perched water tables. Examples are typically grass- and sedge- (Cyperaceae spp.) dominated, and are often species-rich. The habitat can vary between dense shrubs to open and herbaceous, depending on fire frequency. Dominant vegetation includes bluestems, panic grass (Panicum amarum), beak rushes (Rhynchospora spp.), nut rushes (Scleria spp.), sphagnum moss (Sphagnum andersonianum), and ferns (Osmunda spp.). Bog habitats in Alabama have been degraded or lost because of drainage and succession. 3.8.2.5 Beach and Dune Beach and dune complexes are dynamic systems of constantly changing habitats characterized by sandy soils, sparse, saltwater-adapted grasses and shrubs, and interdunal pools and swales. Winds, tides, salt spray, and tropical storms impact these habitats as the sands and the vegetation that they support constantly ebb and flow in response. Vegetated coastal dunes consist largely of herbaceous and embedded shrublands on barrier islands and other near-coastal areas where salt spray, saltwater overwash, and sand movement are important ecological forces. A number of diagnostic and endemic plant species characterize this habitat, including sandhill rosemary (Ceratiola ercoides), woody goldenrod (Chrysoma pauciflosculosa), beach sand-squares (Paronychia erecta), and Gulf rockrose (Helianthemum arenicola). The outermost zone of vegetation extending seaward from the foredunes is characterized by sea oats (Uniola paniculata) and Gulf bluestem (Schizachyrium maritimum). 3.8.2.6 Estuarine and Marine This habitat includes salt and brackish tidal marshes and adjacent shallow marine waters, including seagrass beds. These habitats are typically associated with mud-bottomed bays behind barrier islands. Wigeon grass (Ruppia maritime), American wild celery (Vallisneria americana), shoal grass (Halodule wrightii), southern naiad (Najas guadalupenis), and slender pondweed (Potamogeton pusillus) are typically found in this habitat. The environmental quality of this habitat has degraded with increased turbidity and decreases in water quality from dredging, boating, and other development pressures. 3.8.3 Wildlife Alabama surpasses all eastern states in plant and animal diversity, ranking fifth in the nation, and ranks first in the nation in freshwater species diversity (ALDCNR 2005). The state also has the greatest number of species at risk east of the Colorado River because of alteration of natural wildlife habitat. Wildlife found in the vicinity of the FLC includes a diverse population of native and exotic species of amphibians, reptiles, birds, fish, and mammals (Table 44). The Gulf Shores-Orange Beach Loop of the Alabama Coastal Birding Trail is in the vicinity of the FLC and offers the opportunity for birding and Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-68 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 other wildlife viewing in the area. Fishing is a popular recreational and commercial activity in the Gulf Shores-Orange Beach area. Popular sport and commercial fish species include channel catfish (Ictalurus punctatus), striped mullet (Mugil cephalus), and southern flounder (Paralichthys lethostigma). Neotropical migratory birds are known to use scrub-shrub and pine woodlands in southern Baldwin County as stopover habitat during migratory periods. Common species observed in the FLC area include dickcissel (Spiza americana), buntings (Passerina spp.), bobolink (Dolichonyx oryzivorus), vireos (Vireo spp.), and warblers (Dendroica spp.). Table 44. List of Wildlife Species Common name Amphibians Southern cricket frog Bird-voiced Treefrog Pine woods treefrog Barking treefrog Squirrel treefrog Greenhouse frog Spotted salamander Spotted dusky salamander Oak toad Green treefrog Pig frog Southern leopard frog Reptiles Texas horned lizard Common five-lined skink Eastern coachwhip Gulf saltmarsh snake Mississippi green water snake Plain-bellied water snake Florida green water snake Black pine snake Florida pine snake Copperhead Common snapping turtle American alligator Birds Snowy plover Common loon Tri-colored Heron Great egret Red-breasted merganser Northern gannet Groove-bill ani Scientific name Acris gryllus gryllus Hyla avivoca Hyla femoralis Hyla gratiosa Hyla squirella Eleutherodactylus planirostris Ambystoma maculatum Desmognathus conanti Bufo quercus Hyla cinerea Rana grylio Rana pipiens sphenocephala Phrynosoma cornutum Eumeces fasciatus Masticophis flagellum flagellum Nerodia clarkii clarkia Nerodia cyclopion Nerodia erythrogaster Nerodia floridana Pituophis melanoleucus lodingi Pituophis melanoleucus mugitus Agkistrodon piscivorus Chelydra serpentina serpentine Alligator mississippiensis Charadrius alexandrinus Gavia immer Egretta tricolor Casmerodius albus Mergus serrator Morus bassanus Crotophaga sulcirostris 11 Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-69 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 Table 44. List of Wildlife Species (continued) Common name Sandhill crane Canvasback duck Brown pelican Reddish egret Great blue heron Peregrin falcon Tree swallow Eastern kingbird Common ground dove Royal tern American woodcock Scientific name Grus Canadensis Aythya valisineria Pelecanus occidentalis Egretta rufescens Ardea Herodias Falco peregrinus Tachycineta bicolor Tyrannus tyrannus Columbina passerine Sterna maxima Scolopax minor Fish Channel catfish Southern flounder Striped mullet Alligator gar Gulf sturgeon Atlantic needlefish Ictalurus punctatus Paralichthys lethostigma Mugil cephalus Aractosteus spatula Acipenser oxyrinchus desotoi Strongylura marina Mammals Seminole bat Red fox Northern yellow bat Coyote Raccoon Bobcat Eastern mole Opossum Marsh rabbit Gray squirrel Marsh rice rat Cotton mouse Nutria White-tailed deer Lasiurus seminolus Vulpes vulpes Lasiurus intermdius Canis latrans Procyon lotor Felis rufus Scalopus aquaticus Didelphis marsupialais Sylvialagus palustris Sciurus carolinensis Oryzomys palustris Peromyscus gossypinus Myocaster coypus Odocoileus virginianus 3.8.4 Sensitive Species 3.8.4.1 Sensitive Species Overview Sensitive species are unique plants and animals that have been observed to be declining toward extinction. Using available scientific research, state, federal, and nongovernmental organizations have assigned conservation priority to many rare or declining species. The most significant protection for sensitive species is the Endangered Species Act (ESA). The ESA was passed in 1973 to address concerns regarding the decline in populations of many unique wildlife species. Supporters of the ESA argued that America’s natural heritage was of aesthetic, ecological, educational, recreational, and scientific value to the nation and, therefore, worthy of protection. The purpose of the ESA is to rebuild populations of protected species and conserve “the ecosystems on which endangered and threatened species depend” (USFWS 2001). The law offers two classes of protection for rare species in decline—endangered and threatened. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-70 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 Endangered status means a species is in danger of extinction throughout all or a significant portion of its range. Threatened status indicates that a species is likely to become endangered within the foreseeable future. All species of plants and animals, except pest insects, are eligible for listing as endangered or threatened (USFWS 2001). All federal agencies are required to protect TES while carrying out projects and to preserve TES habitats on federal land. 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 3.8.4.2 Sensitive Plant Species 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 Under the ESA, it is illegal to take TES. As defined in the ESA, “the term take means to harass, harm, pursue, hunt, shoot, wound, kill, trap, capture, or collect or attempt to engage in any such conduct.” The Secretary of the Interior, through regulations, defined the term harm in this passage as, “an act [that] actually kills or injures wildlife. Such an act could include significant habitat modification or degradation where it actually kills or injures wildlife by significantly impairing essential behavioral patterns, including breeding, feeding, or sheltering” (USFWS 2001). Because it is unlawful to hunt or collect TES, habitat degradation is the primary reason for population declines in listed species. Two sensitive plant species have been identified in the vicinity of the FLC—the white-topped pitcher plant (Sarracenia leucophylla) and American chaffseed (Schwalbea americana). The white-topped pitcher plant is found in bogs and wet pine savannas in coastal Alabama and has declined in population and range because of alteration of natural habitat from development pressures. The closest population to the FLC can be found in Wolf Bay, where it is listed as a species of concern. The white-topped pitcher plant has not been observed on any of the proposed development sites. American chaffseed is found in moist pine flatwoods and fire-maintained savannas. Similar to the whitetopped pitcher plant, populations have declined in recent decades because of alteration of natural habitat from development pressures and suppression of periodic fire, which is critical for survival. During TES surveys of several potential project sites, American chaffseed was not observed, though it has been noted that the potential for a population does exist. Exotic species, such as cogongrass (Imperata cylindrical) and tallow tree, threaten both sensitive plant species and have contributed to the decline of sensitive plant species habitat. 3.8.4.3 Sensitive Animal Species The ALDCNR has identified 314 aquatic and terrestrial wildlife species in Alabama as in greatest conservation need (GCN). GCN species are those that are at risk or are declining because of habitat loss and fragmentation, loss of natural community integrity, impacts from disturbance and exotic species, or lack of adequate protection (ALDCNR 2005). They include TES, as well as many other species whose populations are of concern. The GCN fauna in Alabama include 24 mammals, 26 reptiles, 14 amphibians, 28 birds, 57 fish, 93 mussels, 34 aquatic snails, and 28 crawfishes (ALDCNR 2005). Federal and state listed TES known to occur in southern Baldwin County include the Alabama beach mouse, loggerhead sea turtle (Caretta caretta), green sea turtle (Chelonia mydas), red cockaded woodpecker (Pocoides borealis), piping plover (Charadrius melodus), bald eagle (Haliaeetus leucocephalus), Alabama red-bellied turtle (Pseudemys alabamensis), gulf sturgeon (Acipenser oxyrinchus desotoi), and eastern indigo snake (Drymarchon corais couperi). 3.8.4.3.1 Alabama beach mouse The endangered Alabama beach mouse is found in the primary, secondary, and scrub dunes of coastal Baldwin County. Habitat loss and fragmentation due to coastal development are the most significant cause of population decline. The Alabama beach mouse has not been observed to occur along the FLC. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-71 Draft Environmental Impact Statement 1 2 3 4 5 6 7 3.8.4.3.2 8 9 10 11 12 13 3.8.4.3.3 Green sea turtle The endangered green sea turtle nests primarily along the Atlantic Coast of Florida, although at least two nests have been found along coastal Alabama in recent years (ALDCNR 2005). According to the ALDCNR, no major feeding grounds exist along the coast of Alabama. The green sea turtle faces similar challenges for survival as does the loggerhead sea turtle (i.e., loss/alteration of habitat, light pollution impacts). Green sea turtles have not been observed within the FLC. 14 15 16 17 18 19 3.8.4.3.4 20 21 22 23 24 25 3.8.4.3.5 Piping plover The piping plover is known to winter in coastal Alabama along beaches and barrier islands that have mudflats and sandflats (ALDCNR 2005). This species is now listed as threatened because of habitat loss, disturbance of life processes, and predation. There are no known populations of piping plover in the vicinity of the FLC, though it is possible during winter that the piping plover uses the few small sandy areas along the FLC. 26 27 28 29 30 31 32 3.8.4.3.6 Bald eagle The bald eagle is known to nest in Baldwin County near major waterbodies, mainly near the Bon Secour National Wildlife Refuge, which is west of the FLC. This species is listed as threatened but has been proposed to be removed from the TES list because of successful rehabilitation of the population in Alabama and throughout the nation. During TES surveys of several potential project sites, bald eagles were not observed, though it has been noted that the potential for a population in the vicinity of the FLC does exist. 33 34 35 36 37 3.8.4.3.7 Alabama red-bellied turtle The Alabama red-bellied turtle is the state’s official reptile and is listed as endangered. This species is found in shallow, vegetated backwaters of freshwater streams, rivers, bays, or bayous throughout southern Baldwin County. The turtle is threatened by a loss of habitat because of development pressures. During TES surveys of several potential project locations, Alabama red-bellied turtles were not observed. 38 39 40 41 42 3.8.4.3.8 Loggerhead sea turtle According to the ALDCNR, the threatened loggerhead sea turtle is the most abundant sea turtle occurring along the coastal waters and nesting beaches of Alabama. Decline in loggerhead sea turtle population has been attributed to commercial fishery interactions (i.e., shrimping industry) and loss or alteration of nesting habitat. In addition, light pollution of nearby-coastal developments has the potential to disturb or alter sea turtle behavior, including the selection of nesting sites and the movement off of the beach by hatchlings and adults. Loggerhead sea turtles have not been observed within the FLC. Red-cockaded woodpecker The endangered red-cockaded woodpecker (RCW) is known to occur in Baldwin County in old pine timber of open stands. The decline of RCW can be attributed to loss of habitat, mainly mature longleaf pine ecosystems. Because of anthropogenic influences, most of the forested areas along the FLC are unsuitable RCW habitat. During TES surveys of several potential project sites, RCW was not observed, though it has been noted that the potential for a population in the vicinity of the FLC does exist. Gulf sturgeon The gulf sturgeon is an anadromous fish and is listed as threatened. It has been found on the eastern side of Mobile Bay and also in the Mobile Delta. This species is listed as threatened because of loss or degradation of habitat and negative interactions with commercial fishery operations. Gulf sturgeon have not been observed within the FLC. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-72 Draft Environmental Impact Statement 1 2 3 4 5 6 3.8.4.3.9 Eastern indigo snake The eastern indigo snake is listed as a threatened species and is found throughout Baldwin County. Its preferred habitat is wet lowlands, swamps, and cypress ponds, and it is often found along with the gopher tortoise. According to the ALDCNR, the greatest threats to this species are loss or alteration of habitat, rattlesnake hunters’ practice of putting gas down a burrow, and the pet trade. During TES surveys of several potential project sites, eastern indigo snakes were not observed. 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 3.8.4.4 Habitat Conservation Plan 26 27 28 3.8.5 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 In 2005, Gulf Shores drafted a Habitat Conservation Plan to address the conservation needs of the Alabama beach mouse and nesting sea turtles (Gulf Shores 2005). The overall objectives of the plan are as follows: • Provide a predictable and streamlined process that private entities could use, on a voluntary basis, to achieve compliance with the ESA. • Provide for the long-term conservation of the Alabama beach mouse and localized sea turtle conservation through the avoidance and preservation of habitat areas. • Ensure that impacts to Alabama beach mouse and sea turtles resulting from Covered Activities are appropriately minimized and mitigated, consistent with the requirements of the ESA. • Accommodate appropriate growth and development within Gulf Shores. • Maximize opportunities for the restoration and enhancement of degraded Alabama beach mouse habitat areas. The plan focuses on the Fort Morgan Peninsula coastline, which is approximately two miles south of the FLC, in southern Baldwin County. The Alabama beach mouse and nesting sea turtles are not known to occur along the FLC. As a result of the location of the focus area and species of concern, the Habitat Conservation Plan will provide minimal guidance to the proposed projects along the FLC. Sensitive Habitats Sensitive habitats are areas inhabited by federally listed species, as well as rare vegetative communities. Two sensitive habitats have been identified in the FLC area—pitcher plant bog and longleaf pine savanna. 3.8.5.1 Pitcher Plant Bog Pitcher plant bogs are found in association with longleaf pine ecosystems and are dependent on a frequent fire regime. This habitat has decreased in area because of a decline in frequent fire events, drainage for agriculture, or development pressures. The ALDCNR lists 15 GCN species that are dependent upon this habitat during the species’ life cycle. The GCN species include crawfish (Fallicambarus burrisi), seepage salamander (Desmognathus aeneus), pine barrens treefrog (Hyla andersonii), coal skink (Eumeces anthracinus), southeastern five-lined skink (Eumeces inexpectatus), mimic glass lizard (Ophisaurus mimicus), Henslow’s sparrow (Ammodramus henslowii), short-eared owl (Asio flammeus), northern harrier (Circus cyaneus), yellow rail (Coturnicops noveboracensis), least bittern (Ixobrychus exilis), american woodcock (Scolopax minor), northern yellow bat (Lasiurus intermedius), marsh rabbit (Sylvialagus palustris), and meadow jumping mouse (Zapus hudsonius preblei). Pitcher plant bog habitat has not been observed along the FLC. 3.8.5.2 Longleaf Pine Savanna Much of the longleaf pine savanna habitat has been lost to clearing, draining, development, and agriculture. It is estimated that less than five percent of the original acreage of wet pine savanna habitat remains in the Atlantic/Gulf Coastal Plain (MDWFP 2005). The remaining habitat is highly fragmented, resulting in a decline of habitat quality. The ALDCNR lists 29 GCN species that are dependent upon this Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-73 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 habitat, including flatwoods salamander, gopher frog (Rana capito), dusky gopher frog (Rana sevosa), eastern indigo snake, southern hognose snake (Heterondon simus), black pine snake (Pituophis melonoleucus lodingi), eastern diamondback rattlesnake (Crotalus adamanteus), coal skink, eastern kingsnake (Lampropeltis getula), speckled kingsnake (Lampropeltis getulua holbrooki), eastern coral snake (Micrurus fulvius fulvius), mimic glass lizard, Florida pine snake (Pituophis melanoleucus mugitus), Henslow’s sparrow, red-cockaded woodpecker, Bachman’s sparrow (Aimophila aestivalis), short-eared owl, northern harrier, yellow rail, swallow-tailed kite (Elanoides forficatus), american kestrel (Falco sparverius), southeastern american kestrel (Falco sparverius paulus), american woodcock, southeastern pocket gopher (Geomys pinetis), northern yellow bat, long-tailed weasel (Mustela frenata), southeastern myotis (Myotis austroriparius), eastern spotted skunk (Spilogale putorius), and marsh rabbit. Longleaf pine savanna habitat has been observed in small areas along the FLC. 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 3.8.5.3 Essential Fish Habitat The Magnuson-Stevens Fishery Conservation and Management Act, as amended by the Sustainable Fisheries Act of 1996 (Public Law 104-267), established a new requirement to describe and identify EFH in each fishery management plan. This act sets forth a new mandate for the National Marine Fisheries Service (NMFS), regional fishery management councils, and other federal agencies to identify and protect important marine and anadromous fish habitat. The EFH provisions of the act support maintenance of sustainable fisheries, which is one of the overall management goals for the nation’s marine resources. As defined in the interim final rule (62 FR 66551), “Essential fish habitat means those waters and substrate necessary to fish for spawning, breeding, feeding, or growth to maturity. For the purpose of interpreting the definition of EFH: ‘Waters’ include aquatic areas and their associated physical, chemical, and biological properties that are used by fish, and could include aquatic areas historically used by fish where appropriate; ‘substrate’ includes sediment, waterbottoms, structures underlying the waters, and associated biological communities; ‘necessary’ means the habitat required to support a sustainable fishery and the managed species’ contribution to a healthy ecosystem; and ‘spawning, breeding, feeding, or growth to maturity’ covers a species’ full life cycle.” For coastal Alabama, NMFS EFH data is characterized by relative abundance and is divided by calendar seasons. Calendar seasons were used due to salinity seasons varying among estuaries. All seven species listed in Table 45 are divided into adults and juveniles. Five categories were used to describe relative abundance: highly abundant, abundant, common, rare, and not present. The relative abundance categories were classified by NMFS using historical data on EFH, and using input from local agencies and local fisherman. No quantitative value was determined for each of the categories. The most recent data for the project area was collected in the fall of 1998 by the NMFS Galveston Laboratory. Bon Secour Bay and Oyster Bay recorded adult and juvenile brown shrimp in the spring and summer as “highly abundant.” Bon Secour Bay and Oyster Bay recorded “abundant” for juvenile brown shrimp in the fall, juvenile pink shrimp in the spring and summer, adult white shrimp in the fall and summer, and juvenile white shrimp in the fall, summer, and winter. Perdido Bay and Wolf Bay recorded adult brown shrimp in the fall and summer, and juvenile brown shrimp in the fall, spring, and summer as “highly abundant.” Perdido Bay and Wolf Bay had no species recorded as “abundant.” The FLC was not listed as EFH for any species. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-74 Draft Environmental Impact Statement 1 Table 45. List of EFH Species Brown Shrimp - Adult Bon Secour Bay Oyster Bay Perdido Bay/Wolf Bay Brown Shrimp - Juvenile Bon Secour Bay Oyster Bay Perdido Bay/Wolf Bay Gray Snapper - Adult Bon Secour Bay Oyster Bay Perdido Bay/Wolf Bay Gray Snapper - Juvenile Bon Secour Bay Oyster Bay Perdido Bay/Wolf Bay Gulf Stone Crab - Adult Bon Secour Bay Oyster Bay Perdido Bay/Wolf Bay Gulf Stone Crab - Juvenile Bon Secour Bay Oyster Bay Perdido Bay/Wolf Bay Pink Shrimp - Adult Bon Secour Bay Oyster Bay Perdido Bay/Wolf Bay Pink Shrimp - Juvenile Bon Secour Bay Oyster Bay Perdido Bay/Wolf Bay Red Drum - Adult Bon Secour Bay Oyster Bay Perdido Bay/Wolf Bay Fall Spring Summer Winter Common Common Highly Abundant Highly Abundant Highly Abundant Not Present Highly Abundant Highly Abundant Highly Abundant Rare Rare Not Present Abundant Abundant Highly Abundant Highly Abundant Highly Abundant Highly Abundant Highly Abundant Highly Abundant Highly Abundant Common Common Not Present Rare Rare Not Present Rare Rare Not Present Rare Rare Not Present Rare Rare Not Present Common Common Common Rare Rare Not Present Rare Rare Common Rare Rare Not Present Common Common Rare Common Common Rare Common Common Rare Common Common Rare Common Common Rare Common Common Rare Common Common Rare Common Common Rare Common Common Rare Common Common Common Common Common Rare Rare Rare Rare Common Common Common Abundant Abundant Common Abundant Abundant Common Common Common Common Common Common Not Present Common Common Not Present Common Common Not Present Rare Rare Not Present 2 Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-75 Draft Environmental Impact Statement 1 Table 45. List of EFH Species (continued) Fall Red Drum - Juvenile Bon Secour Bay Common Oyster Bay Common Perdido Bay/Wolf Bay Common Spanish Mackerel - Adult Bon Secour Bay Not Present Oyster Bay Not Present Perdido Bay/Wolf Bay Common Spanish Mackerel - Juvenile Bon Secour Bay Common Oyster Bay Common Perdido Bay/Wolf Bay Not Present White Shrimp - Adult Bon Secour Bay Abundant Oyster Bay Abundant Perdido Bay/Wolf Bay Not Present White Shrimp - Juvenile Bon Secour Bay Abundant Oyster Bay Abundant Perdido Bay/Wolf Bay Common Spring Summer Winter Common Common Common Common Common Common Common Common Common Rare Rare Not Present Common Common Common Not Present Not Present Not Present Common Common Not Present Common Common Not Present Rare Rare Not Present Not present Not present Rare Abundant Abundant Rare Common Common Rare Common Common Common Abundant Abundant Common Abundant Abundant Rare 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 3.8.6 Wetlands Wetlands are the transitional zone between dry land and aquatic habitat. As defined by the USACE, wetlands are, “those areas that are inundated or saturated by surface or groundwater at a frequency and duration sufficient to support, and that under normal circumstances do support, a prevalence of vegetation typically adapted for life in saturated soil conditions. Wetlands generally include swamps, marshes, bogs, and similar areas” (USACE 1987). Three diagnostic characteristics are typically used to recognize wetlands: • Hydrology. Wetlands are inundated with less than 6.6 feet of water on average; otherwise, they are considered deepwater habitat. However, unless wetlands are saturated to the soil surface at least some time during the growing season, they are considered upland or non-wetland habitat. • Hydric Soils. Soils that have formed under conditions of saturation, flooding, or ponding long enough during the growing season develop anaerobic conditions in the upper part. These soils are defined as hydric soils and support hydrophytic vegetation. • Hydrophytic Vegetation. Wetlands feature hydrophytic plant species that are adapted to thrive in wet soils with little or no oxygen. These species have specialized structural or reproductive features that allow them to compete with other plants and persist in hydric soils. Wetland environments are susceptible to a variety of anthropogenic and natural impacts because of their transitional setting between the terrestrial and aquatic environments of a watershed. Inputs such as water, sediment, nutrients, organic matter, and pollutants enter wetlands as part of natural flow or during storm events. Animals use wetlands as sources of food, water, and habitat and transfer energy and chemicals between the terrestrial and aquatic ecosystems. These inputs can be altered in energy or biochemical Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-76 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 composition before exiting the wetland environment. These upstream and wetland inputs can have significant impacts on the wetland ecosystem and the environment downstream of the wetland. As a result, management activities in wetlands must take into account the impacts on the wetland ecosystem and the downstream environment. Wetlands in Baldwin County are regulated by USACE-Mobile District, per Section 404 of the Clean Water Act, and ADEM. The ADEM Coastal Programs Office defines areas within its jurisdiction as, “waters and the adjacent shorelands lying seaward of the continuous 10-foot contour extending seaward to the outer limit of the United States territorial sea” (ADEM 1995). The proposed project locations fall within the 10-foot contour, and any wetlands on the properties will be considered to fall within the coastal area designated by ADEM. Isolated wetlands that are hydrologically disconnected from state waters or wetland ecosystems could be considered nonadjacent. The Baldwin County Planning and Zoning Department developed the Baldwin County Wetland Conservation Plan (BCWCP) in 2005 to address wetland resources and conservation in the county. The 300,000 acres of wetlands in Baldwin County function as commercial and recreational fishing habitat, store floodwaters, offer recreational opportunities for tourists, and recharge groundwater (Baldwin County 2005). The BCWCP was developed to be a guide for decision makers to make wise land use decisions regarding wetland resources in the county. According to the BCWCP, the wetland types found in the vicinity of the FLC include fringe, flat, and riverine. Figure 39 identifies the wetlands in the vicinity of the FLC. Fringe wetlands are adjacent to bodies of water, receiving frequent and regular two-way flow from astronomic tides or from wind-driven water level fluctuations (Baldwin County 2005). Flat wetlands are seasonally saturated, receiving water primarily from precipitation, and are often referred to as pine savannas. Riverine wetlands receive water from rivers or streams and are often identified as swamps or bottomland hardwoods. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-77 Draft Environmental Impact Statement 1 2 Figure 39. Wetlands Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-78 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 Wetland delineation studies have been performed on several of the proposed project sites and the wetland types observed include pine savanna and fringe. Many of the wetlands identified are artificial depressions or isolated wetlands created during FLC operation and maintenance activities performed by the USACE. It has been suggested that these areas not be considered jurisdictional in reference to the U.S. Supreme Court’s SWANCC v. U.S. Army Corps of Engineers ruling. Additionally, these areas should be considered nonadjacent wetlands and of low functional value, which would potentially permit the filling of these areas for non-water dependent uses. 9 3.9 CULTURAL RESOURCES 10 11 12 13 14 15 16 Cultural resources are aspects of the physical environment that relate communities to their culture and history. They provide definition for communities and link them to their surroundings. Cultural resources include tangible remains of past activities that show use or modification by people. This type of cultural resource can include prehistoric and historic archaeological sites, buildings, structures, objects, or districts. Cultural resources also include aspects of the natural environment, such as landscapes, specific places, topographic features, or biota that are a part of the traditional way of life and practices and are associated with community values and institutions. 17 3.9.1 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 3.9.1.1 Prehistoric Period Prehistoric and Historic Background of the Project Region Prehistory in the United States refers to the time of Native Americans before Europeans arrived in a region. For Alabama, it extends from as early as 12,000 B.C. to 1519 A.D. Small, nomadic groups of people, known as PaleoIndians, were the first people to live in Alabama, as early as 12,000 B.C. They hunted large game such as bison, mammoth, and mastodon, as well as smaller game such as rabbit and deer. The people ate the meat and used the bones for tools such as awls, pins, and fish hooks. They supplemented their diet by gathering berries, nuts, and other edible plants. These people lived in small bands that set up open-air camps or used natural rock shelters and moved frequently. Most of the PaleoIndian sites identified in Alabama are in the northern part of the state and along rivers. None have been identified in Baldwin County (University of Alabama 2007; ALDAH 2007). As the Ice Age ended, the environment changed as the weather warmed. Sea levels rose, river deltas became flooded, vegetation changed, and the large animals hunted by the PaleoIndians disappeared. As the people in Alabama adapted, a different stage of culture developed, called the Archaic, which lasted from 7000 to 1000 B.C. They subsisted on smaller game and moved seasonally to take advantage of different food sources in different places. During fall and winter, they lived in the hills where hunting was better and they could gather nuts. Hunting was accomplished using an atlatl or spear thrower. In the spring and summer they returned to the river valleys to fish and collect shellfish. Pottery was introduced to Alabama in the Late Archaic and was used for storage and cooking. People also began to encourage plants to grow, thinning weeds and sheltering certain plants so they would grow better (University of Alabama 2007; ALDAH 2007). The Bayou La Batre culture emerged during this time period and is marked by the appearance of the earliest, coiled, grit-tempered ceramics in the Alabama region. Several shell-midden sites in the area of Mobile Bay have included this ceramic complex (Walthall 1980). The Woodland Stage, lasting from 1000 B.C. to 1000 A.D., is characterized by increased plant cultivation and a subsequent need for a more sedentary life. These people cultivated maize, sunflower, beans, and squash. They also continued to hunt small game and forage for fruit and nuts, though they used a bow and arrow. More permanent towns and villages were established and there arose a widespread emphasis on ceremony. Round houses were built of timber and mud. Mound building first appeared during the Archaic Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-79 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 Stage but flourished during the Woodland. The Alabama landscape is dotted with numerous conical mounds (University of Alabama 2007; ALDAH 2007). 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 3.9.1.2 Contact Period 37 38 39 40 41 42 43 44 45 46 47 48 The Mobile Bay area was of considerable economic importance in the Woodland Stage. The Porter Phase manifested in the Mobile Bay and the Lower Tombigbee region during this period, following the decline of the Bayou La Batre Culture. Two functional habitation sites are considered part of the Porter Phase. Small shellmiddens along the coastal and bay areas indicate periods of brief occupation and also point to littoral economic activity. Habitation sites north of Tensaw Lake contain burial mounds and are thought to be evidence of major Porter settlements (Walthall 1980). The Mississippian Stage (A.D. 1000 to 1300) is marked by the aggregation of large numbers of people to live in communities. These communities were organized into chiefdoms with two groups of people, the elite and the commoners. Houses were built of timber, mud, and thatch, but unlike the Woodland Stage homes, these were square. Public architecture was expanded and was characterized by large, flat-topped mounds with public buildings or elite residences built in top. These buildings were generally larger and more ornate than their common buildings. The Mississippian Stage is also marked by increased dependence on maize, though other crops continued to be harvested (University of Alabama 2007; ALDAH 2007). One of the eight major recognized Mississippian sites in Alabama is in Bear Point (Walthall 1980). The Contact Period refers to the time during the first exploration of the southeast coastal region by Europeans. In 1519 the first explorer to navigate into Mobile Bay was a Spaniard named Alonso Alvarez de Pineda (ALDAH 2007; Alabama Genealogy 2007). Hernando de Soto explored along the Coosa, Alabama, and Tombigbee rivers in 1539 and claimed the region as part of Florida (Duncan 1995). The English claimed the region north of the Gulf of Mexico. The region of Alabama was included in the province of Carolina, granted by Charles II of England by the charters of 1663 and 1665. English traders were frequenting the Alabama River valley as early as 1687. But it was the French who colonized the region. It was not until 1699 that the first permanent European settlers arrived in the Mobile Bay area, with the arrival of the LeMoyne brothers from France. Until 1711, Fort Louis (on the present site of Mobile) had been settled as the capital of the French colony known as Louisiana. It was surrendered to flood waters and its replacement, Fort Conde, was built on higher ground. The French and English both attempted to forge strong alliances with the regional Indian tribes, namely the Creek, Choctaw, Chickasaw, and Cherokee, to strengthen their positions. Finally, in 1763, the Treaty of Paris ended the French and Indian War and terminated French occupation of the region (Axelrod 2002). Baldwin County was among the lands the British gained as a result of the Treaty (Baldwin County 2007). 3.9.1.3 Historic Period Following the signing of the Treaty of Paris, ownership and occupation of the Alabama region was contested between Great Britain, the United States, and Spain. Finally, in 1812, the United States occupied the Mobile district, and the whole area of the present state of Alabama was under the jurisdiction of the United States, although Indian tribes still owned most of the land by treaty and occupation (Badger and Clayton, 1985). Squatters began to move into Alabama forcing various tribes off their lands. The Great Indian War (Seminole War) continued skirmishes between the United States and Spain and regional tribes. In 1816 important treaties were signed and three-fourths of Alabama was available to AngloAmerican settlement (Alabama Genealogy 2007). In 1817 Alabama became a territory; in December 1819, it became a state; and in 1835 the last of the native lands were ceded (Genealogy Inc. 2007). Baldwin County was originally organized as a county in 1809. Many of the county’s settlers, who had migrated from Georgia, suggested naming the county after a prominent Georgian, Abraham Baldwin, Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-80 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 49 50 51 to recognize his life and accomplishments (Baldwin County 2007). It was during the early 1800s that the idea for a connected system of coastal waterways to promote national security and economic development was first envisioned (USACE 1983). In 1826 the Army Engineers broached the idea for a protected passage to provide inland navigation along the Gulf Coast between St. Marks, Florida, and Lake Pontchartrain, Louisiana. In 1832 a study was initiated to determine the best route to connect the bays of Pensacola and Bon Secour. Settlers flocked to the state, and it became a prosperous center of slave plantations growing cotton with subsistence farmers eking out a living on the poorer lands (ALDAH 1850-1880). Alabama suffered economic and agricultural problems in the 1840s and 1850s because of banking problems that caused many to lose their savings, drought, and severe yellow fever epidemics (Genealogy Inc. 2007). Sparse political backing of the proposed interior coastal waterways continued to result in no funding from Congress (USACE 1983). Federal interest in the inland waterway lay dormant for more than 40 years while attention was drawn in other directions. On January 11, 1861, Alabama seceded from the Union and joined the Confederate States of America. Aside from Mobile Bay, much of Alabama experienced relatively little military action. However the economic, political, and social life of the state was devastated, and this devastation continued through the Reconstruction. Much of this had to do with the difficulty of travel once the Union seized the Mississippi and destroyed the railroad infrastructure (Gabel 2002). In the 1860s and 1870s, 15 percent of the white population of Alabama migrated, with a third of these going to Texas (Genealogy Inc. 2007). Railroads were rebuilt and completed across the state in the 1870s, leading to the industry of mining of Alabama’s rich mineral deposits of coal, iron ore, and limestone. By 1880, steel, iron, lumber, and textile industries were rapidly expanding (Genealogy Inc. 2007). During the 1800s, the railroad industry, through various political and economic manipulations, had severely reduced the viability and use of waterways as an economical way to transport goods. However, in the late 19th century, interest in waterways was revived as the people of the Mississippi Valley complained that the railroads did not have sufficient capability to meet their needs (USACE 1983). Commercial interest banded together and petitioned for a comprehensive plan to improve and control navigable waterways with public funds. With the United State’s entry into World War I, agricultural production increased and significant growth in Mobile’s ship building industry led to increased foreign trade. During the Great Depression, the Tennessee Valley Authority developed dams and power plants on the Tennessee River for inexpensive electricity, boosting Alabama’s industrial growth (Genealogy Inc. 2007). However, a USACE study conducted in 1929 could not find commercial justification for improving the inland waterway stretch between Pensacola and Mobile bays (USACE 1983). However, the study did find that such a waterway was logical in the development of the inland waterway system along the coast. In 1930 Congress authorized the funding for a 9 x 100 foot channel. The channel was completed in 1934, and construction was conducted under budget. During the early 1900s, the forebear of today’s Gulf Intracoastal Canal Association (GICA) was formed. This organization, still viable today, was instrumental in promoting the intracoastal canal and is credited with passage of legislation in 1942 authorizing a complete channel extending from Florida west to the vicinity of the Mexican border (USACE 1983). Agriculture and industry in Alabama again were boosted by World War II, and the installation of military training sites provided further economic development. The need to transport personnel, troops, and defense materials imposed by wartime conditions served to emphasize the need for protected inland transportation and existing inadequacies. During the war, more than two dozen merchant ships were sunk in the Gulf of Mexico. Authorization to enlarge and complete the intracoastal waterway followed the outbreak of the war, and the waterway is credited with helping to transport more than 1.7 billion barrels of petroleum products during the war (USACE 1983). War-related industries located production facilities Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-81 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 along the GIWW and its tributaries, and this industrial development offered innumerable benefits to adjacent communities well after the war ended. Recreational and tourist developments along the GIWW also served to develop economies of inland communities. 3.9.2 Cultural Resources Compliance A number of federal statutes address cultural resources and federal responsibilities regarding them. The long history of legal jurisdiction over cultural resources, dating back to the 1906 passage of the Antiquities Act (16 United States Code [U.S.C.] 431-433), demonstrates a continuing concern on the part of Americans for their cultural resources. Foremost among these statutes is the National Historic Preservation Act (NHPA) of 1966, as amended (16 U.S.C. 470). Section 106 of the NHPA requires federal agencies to take into account the impact of federal undertakings on historic properties. Historic properties are cultural resources that are included in or eligible for inclusion in the National Register of Historic Places (NRHP). To be eligible for inclusion in the NRHP, a cultural resource must demonstrate a significant degree of physical integrity and meet one or more of the NRHP criteria for significance with respect to historical associations, cultural characteristics, and future research potential. The regulations that implement section 106 (Title 36 of the Code of Federal Regulations [CFR] Part 800) describe the process for identifying and evaluating cultural resources; assessing impacts of federal actions on historic properties; and consulting to avoid, reduce, or mitigate adverse impacts. The NHPA does not require preservation of historic properties, but it does ensure that federal agency decisions concerning the treatment of these resources result from meaningful consideration of cultural and historic values and identifying options available to protect the resources. The federal government recognizes its unique relationship with Native American tribal governments and respects tribal sovereignty and self-government. Various federal statutes that establish and define a trust relationship with tribes have been enacted. These statutes, along with Executive Orders, include NEPA; the NHPA; the American Indian Religious Freedom Act of 1978 (42 U.S.C. 1996); the Native American Graves Protection and Repatriation Act of 1990 (25 U.S.C. 3001); Executive Order 13007, Indian Sacred Sites (61 Federal Register [FR] 26771); Executive Order 13175, Consultation and Coordination with Indian Tribal Governments (65 FR 67249); and the Executive Memorandum on Government-toGovernment Relations with Native American Tribal Governments (59 FR 22951). They call on agencies to consult with Native American tribal leaders and others knowledgeable about cultural resources important to them. The USACE takes government-to-government consultation very seriously. 3.9.3 Cultural Resources in the Project Area USACE, Mobile District consulted with the Alabama SHPO per section 106 of the NHPA regarding 14 of the proposed developments. The SHPO responded that because 11 of the proposed developments along the north shore of the FLC are in areas that have been extensively disturbed by USACE construction and maintenance of the waterway, those areas are unlikely to contain intact archaeological resources, and cultural resource surveys are not necessary (Neubauer 2006). Three of the developments are in areas that are similar environmentally to areas that contain significant cultural resources and are near known archaeological sites and, thus, are considered archaeologically sensitive. The SHPO requested that these three areas undergo archaeological survey and that an architectural survey be conducted to identify any structures at least 50 years old within one mile of the project areas. Archeological and historical literature searches reveal that several cultural resource assessments have been conducted in the vicinity of the proposed developments. These include the Bay John I, Bay John II, Bon Secour (River Front) Survey, Green Ivy, Navy Cove Surveys, Brigadoon Survey, Water Dance Cultural Resources Assessment, and Henderson Land project. The Alabama State Site Files indicate that there are 12 previously recorded archaeological sites on Oyster Bay, which were recorded as oyster Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-82 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 shellmiddens and an aboriginal canal. An additional 10 sites are recorded at the mouth of the Bon Secour River. None of these sites falls within the proposed developments. 17 Table 46. Cultural resource status of the 16 proposed developments Cultural resource surveys were conducted on three developments that the SHPO requested to be surveyed—the 501 Point West, Bayside Harbour, and Oyster Bay Marina developments (Stowe and Stowe 2005a, 2006). The AHC performed the cultural resource survey on the Bayside Harbour property. Each of the cultural resource surveys included a state site file search, historic literature search and an onsite survey. Subsurface testing was done for the Oyster Bay Marina. Subsurface testing methods for each assessment included shovel tests at standard intervals (30 and 60 meters) and soil screening through onequarter-inch hardware cloth. Subsurface testing was not done on the 501 Point West site, “because of the large amount of fill, the nearly 100 percent surface visibility and the jurisdictional wetlands.” No archaeological or architectural resources were identified within or near the development boundaries for these three developments. The reports have been submitted to the SHPO for consultation, and the SHPO has concurred with the findings (Brown 2005a, 2005b, 2005c). The cultural resource status of all 15 proposed developments is shown in Table 46. Development 47 Canal Place 501 Point West Bayside Harbour Bon Secour Village East Bon Secour Village West Delfino Resort 1 Delfino Resort 2 Harbour Lights KFPH Properties Lawrenz East Lawrenz West Oyster Bay Marina Summerdance Walker Creek Waterways East 18 19 20 21 22 23 Initial consultation with SHPO Survey required Survey conducted Resources in project area Survey submitted to SHPO SHPO concurrence X No X Yes December 2006 None December 2006 TBD X Yes 2005 None 2005 August 4, 2005 X No X No X No X No X No X No X X No No X Yes September 2005 None September 21, 2005 October 17, 2005 X X No No X No SHPO = State Historic Preservation Officer There are four types of designations within Baldwin County to recognize and protect significant historic and prehistoric cultural properties. National Historic Landmarks and properties listed on the NRHP are designated by the National Park Service. The Alabama Historical Commission (AHC) maintains the Alabama Register of Landmarks and Heritage and the Alabama Historic Cemetery Register. Baldwin Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-83 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 County has an Architecture Preservation Review Board and Historic Development Commission, but they do not maintain a listing of important cultural properties. A search of these four registers maintained by the National Park Service and the AHC was conducted to identify significant cultural properties within one mile of the 15 proposed development areas (National Park Service 2006, 2007; AHC 2007; Wofford 2007). Only one recorded significant resource is within this search area. The Nicholson-Nelson House is one-half mile north of the Bayside Harbour development. This property, which is part of the Gulf Coast and Creole Cottages Thematic Multiple Property listing, was listed on the NRHP in 1988. 3.9.4 Native American Resources at Fort Lee USACE has initiated consultation under NEPA and NHPA with potentially interested tribes by sending a letter describing the Preferred Alternative and asking for comments or concerns that the tribes might have. There are no known resources in the proposed development areas that are considered of traditional importance to any tribe. 3.9.5 Pending Investigations and Compliance USACE has consulted with the Alabama SHPO regarding the 15 proposed developments and conducted cultural resource studies per SHPO request. If, however, any development activities were to occur in an area that has not been the subject of SHPO consultation, before any activity begins in that area, USACE would consult with the Alabama SHPO in compliance with section 106 of the NHPA. Should artifacts or archaeological features be encountered during project activities, work would cease in the vicinity of the discovery, and a qualified professional archaeologist would assess the discovery. USACE would initiate a consultation with the Alabama SHPO as appropriate. This stipulation would be placed in all relevant construction plans to ensure that construction contractors are aware of this procedure. 3.10 AIR QUALITY 3.10.1 National Ambient Air-Quality Standards and Attainment Status EPA Region 4 and ADEM regulate air quality in Alabama. The CAA (42 U.S.C. 7401-7671q), as amended, gives EPA the responsibility to establish the primary and secondary National Ambient Air Quality Standards (NAAQS) (40 CFR Part 50) that set acceptable concentration levels for seven criteria pollutants: fine particulate matter (PM10 ), very fine particulate matter (PM2.5), sulfur dioxide (SO2), carbon monoxide (CO), nitrogen oxides (NOx), ozone (O3), and lead. Short-term standards (1-, 8-, and 24hour periods) have been established for pollutants contributing to acute health impacts, while long-term standards (annual averages) have been established for pollutants contributing to chronic health impacts. Each state has the authority to adopt standards stricter than those established under the federal program; however, Alabama accepts the federal standards. Appendix U describes the NAAQS in detail, including a summary of the criteria pollutants’ impacts on public health and welfare. Federal regulations designate Air-Quality Control Regions (AQCRs) in violation of the NAAQS as nonattainment areas. On the basis of the severity of the pollution problem, nonattainment areas are categorized as marginal, moderate, serious, severe, or extreme. Federal regulations designate AQCRs with levels below the NAAQS as attainment areas. Maintenance AQCRs are areas that have previously been designated nonattainment, and have been redesignated to attainment for a probationary period through implementation of maintenance plans. EPA has designated South Baldwin County as an attainment area for all criteria pollutants (40 CFR 81.301). Because South Baldwin County (therefore, all Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-84 Draft Environmental Impact Statement 1 2 areas associated with the Proposed Action and Alternative) is in an attainment area, neither a transportation nor general conformity analysis is required (USEPA 1993). 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 3.10.2 State Implementation Plan 22 23 24 25 26 27 3.10.3 Local Ambient Air Quality 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 The CAA, as amended in 1990, mandates that state agencies adopt State Implementation Plans (SIPs) that target the elimination or reduction of the severity and number of violations of the NAAQS. SIPs set forth policies to expeditiously achieve and maintain attainment of the NAAQS. Since 1990, Alabama has developed a core of air quality regulations (Section 335 Chapters 3-1 through 3-20) that EPA has approved. These approvals have signified the development of the general requirements of the Alabama SIP. In addition, the state has developed SIP revisions for areas of nonattainment (Birmingham, Colbert County, and Jefferson County) to use additional (nonregulatory) means of bringing those areas into attainment. No areas associated with the proposed actions or alternatives are within a nonattainment area. Therefore, only these regulatory elements outlined Alabama’s administrative code apply. The Alabama program for regulating air emissions affects industrial sources (oil refineries, paper mills, chemical plants, and all manufacturing processes), commercial facilities (batch concrete plants, asphalt plants, and small commercial incinerators used by hospitals, department stores, and supermarkets), and residential development activities. Regulation occurs primarily by reviewing engineering documents and other technical information, the applying emission standards and regulations when issuing permits, performing field inspections, and helping industries determine their compliance status with applicable requirements. The regulations also outline additional general requirements such as restrictions on open burning and fugitive particle emissions that might apply. Existing ambient air quality conditions near the proposed development can be estimated from measurements conducted at nearby air quality monitoring stations. The most recent available data (2005) from nearby monitoring stations are used to describe the existing ambient air quality conditions in southern Baldwin County (Table 47). As expected for an attainment area, these measurements are below the NAAQS. 3.10.4 Ozone in the Gulf Coast Region Ozone (O3) is a secondary pollutant that is not directly emitted into the atmosphere but instead is formed in the lower atmosphere by a series of reactions involving ultra violet radiation, nitrogen oxides, and volatile organic compounds (VOC). NOx consists of nitric oxide (NO) and nitrogen dioxide (NO2), which are primarily emitted from man-made sources. VOC consist of thousands of individual hydrocarbon and oxygenated hydrocarbon species emitted from both man-made and natural sources. Local weather conditions such as wind and temperature also affect O3 formation and transport. The Gulf Coast has land/sea breeze driven recirculation, stagnation, and convergence that concentrate and enhance reactivity of local emissions along the coast. Ozone produced or transported over the Gulf of Mexico (driven by land/sea breezes) is not depleted as quickly as it is over land. Higher concentrations occur along the coast as this O3 is driven inland by the sea breeze (SAI 2005). Although in attainment, these factors demonstrate a concern with respect to O3 in the Gulf Coast region. As is the case in most of the eastern United States, there are natural, urban, inter-urban, and regional components to observed O3 contributions. The southeastern United States has high natural VOC emissions, high temperatures, and a high probability of stagnation. Because of the nature of weather patterns in the region, the Gulf Coast area is subject to large-scale, low-level atmospheric recirculation. This makes O3 a pollutant of concern for the region and was carried forward for detailed analysis in this EIS. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-85 Draft Environmental Impact Statement 1 Table 47. The National Ambient Air Quality Standards and local ambient air quality Primary NAAQSa Pollutant Secondary NAAQSa Monitored datab Monitoring station near proposed project area CO 8-Hour Maximumc (ppm) 9 None NA 1-Hour Maximumc (ppm) 35 None NA NA NO2 Annual Arithmetic Mean (ppm) 0.053 0.053 NA 0.08 0.12 0.074 NA O3 8-Hour Maximumd (ppm) Fairhope PM2.5 Annual Arithmetic Meane (µg/m3) f 3 24-Hour Maximum (µg/m ) 15 15 11.8 65 65 26 50 50 18 150 150 41 Fairhope PM10 Annual Arithmetic Meang (µg/m3) c 3 24-Hour Maximum (µg/m ) Bay Road, Mobile SO2 Annual Arithmetic Mean (ppm) 0.03 None 0.002 24-Hour Maximumc (ppm) 0.14 None 0.010 0.5 0.019 c 3-Hour Maximum (ppm) Bay Road, Mobile 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 a - Source: 40 CFR 50.1–50.12. b - Source: USEPAa 2006 c - Not to be exceeded more than once per year. d - The 3-year average of the fourth highest daily maximum 8-hour average O3 concentrations over each year must not exceed 0.08 ppm. 3 e- The 3-year average of the weighted annual mean PM2.5 concentrations from must not exceed 15.0 µg/m . f- The 3-year average of the 98th percentile of 24-hour concentrations at each population-oriented monitor must not exceed 3 65 µg/m . 3 g - The 3-year average of the weighted annual mean PM10 concentration at each monitor within an area must not exceed 50 µg/m . ppm = parts per million 3 µg/m = micrograms per cubic meter NO2 = Nitrogen dioxide NA = Not available – not measured in this area 17 3.11 HAZARDOUS AND TOXIC SUBSTANCES AND POLLUTION 18 19 20 21 22 23 24 25 26 27 28 29 30 31 ADEM administers specific environmental statutes and regulations that govern hazardous material and hazardous-waste management activities in Alabama. For the purpose of this analysis, the terms hazardous waste, hazardous materials, and toxic substances include those substances defined as hazardous by CERCLA, the Resource Conservation and Recovery Act (RCRA), or the Toxic Substances Control Act (TSCA). In general, they include substances that, because of their quantity, concentration, or physical, chemical, or toxic characteristics, can present substantial danger to public health or welfare or the environment when released into the environment. To identify areas where possible storage, release, or disposal of hazardous substances or petroleum products or their derivatives has occurred, InfoMap Technologies, Inc., conducted a computerized search of standard federal and state environmental databases. The database search included the 15 proposed development properties, adjacent properties, and other areas up to one mile from the proposed development locations. The database search was conducted in November 2006 and revised in May 2008 per Standard Practice for Environmental Site Assessments: Phase I Environmental Site Assessment Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-86 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 Process, E1527-05 (ASTM 2005). Copies of the database search reports are provided in Appendix V. Table 48 lists the available environmental databases that were searched. 15 16 Table 48. Government environmental databases available for Orange Beach and Gulf Shores, Alabama A total of 43 sites were identified in two computerized database searches; however, of the 43, seven were identified twice because of overlapping search radii. The actual number of sites identified in the database search is 36. Of these, 25 were non-geocoded and 11 were located. The term non-geocoded indicates that no verifiable address was provided in the report; however, the sites were listed within a common ZIP Code. The located sites included five UST sites, three Leaking Underground Storage Tank (LUST) sites (two require no further action), and three RCRA Generator sites. Using aerial photography and internet resources, none of these sites were identified within the 15 proposed development areas. Federal NPL NPL Delisted CERCLIS CERCLIS-NFRAP RCRA-TSD RCRA-COR ACT RCRA-GEN Federal IC/EC ERNS Tribal Lands State State/Tribal Sites SWL LUST UST/AST Brownfields 17 18 19 20 21 22 23 24 25 26 National Priorities List National Priorities List Delisted Comprehensive Environmental Response, Compensation, and Liability Information System Comprehensive Environmental Response, Compensation, and Liability Information System – No Further Remedial Action Planned Resource Conservation and Recovery Information System – Treatment, Storage, and Disposal Resource Conservation and Recovery Information System – Subject to Corrective Action Resource Conservation and Recovery Information System – Large and Small Quantity Generators Brownfields Management System – Institutional or Engineering Controls Emergency Response Notification System – emergency response actions Indian Lands of the United States Alabama Hazardous Waste Cleanup Fund Annual Report Solid Waste Management Facilities – Landfills List Leaking Underground Storage Tanks – UST Release Incident List Petroleum Storage Tanks (underground/aboveground) Land Division Brownfields 128(A) Program Sheet – database of Brownfield activities. Source: InfoMap Technologies 2008 The non-geocoded sites include one Comprehensive Environmental Response, Compensation, and Liability Information Service (CERCLIS) No Further Remedial Action Planned (NFRAP) site, one LUST site, one RCRA Generator facility, two State sites, eight UST sites and 12 emergency response system (spills) sites. Using available information, most of the non-geocoded sites were not identified within the proposed development areas. The general location of the CERCLIS NFRAP site and one State site could not be identified. The CERCLIS site was cleaned up in 1988 by the USCG and the site was classified as requiring no further remedial action in 1990. The State site known as Caren Tanks Inc. was a former drydock and shipyard service company that went out of business in 1985. Four tanks and contents were Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-87 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 removed from the facility with oversight provided by the ADEM. No further action for the site is anticipated. The ADEM Land Division did not have any additional information on these two sites. 19 20 21 22 23 24 3.11.1 Hazardous Waste Facilities in Southern Baldwin County 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 EPA’s EnviroMapper for Envirofacts Web tool was also used to identify regulated sites within or in the vicinity of the proposed development areas. The Web tool search features include Superfund sites, toxic releases, water dischargers, air emissions, and hazardous-waste sites. The search identified the approximate location of several regulated sites that include eleven water dischargers, one air emission site, and two hazardous waste generators. Of the regulated sites, six facilities were on or in close proximity to the proposed development locations. These water discharge facilities include the Vulcan Construction Materials - Gulf Shores Yard within the proposed 47 Canal Place development area, Bon Secour Village and Younce Marina within the Bon Secour Village Eastern Marina location, the South Alabama Sewer Services WWTP, which is within the proposed Oyster Bay Marina development, and Jack Edwards Field adjacent to the proposed Lawrenz Eastern Marina site and Sunbelt Environmental Inc., a waste management facility, which is adjacent to the proposed 501 Point West development. Each of these regulated facilities is permitted to discharge water. No additional information concerning the environmental condition of the South Alabama Sewer Services WWTP was reported. The hazardous waste generators were located on property adjacent to Lawrenz Eastern Marina and Delfino Resorts, and 47 Canal Place. The Hazardous Waste Branch of ADEM implements state and federal laws relating to recycling, pollution prevention, and hazardous-waste management. This branch assists with remediation of sites contaminated with hazardous wastes, hazardous substances, and hazardous constituents from current and historical activities. The major areas of focus are hazardous-waste management, brownfield redevelopment, and CERCLA remediation. 3.11.2 Baldwin County Hazardous Waste Sites The AHSCF was established in 1989 by the Alabama Legislature to provide a mechanism for ADEM to investigate, remediate, and monitor hazardous-substance sites. These hazardous-waste sites can be an endangerment to human health and the environment but might not qualify to be addressed by another federal or state cleanup program. Generally, sites addressed using AHSCF funds either are not qualified for, or are unlikely to receive cleanup funding under CERCLA. Funding could also be used for long-term maintenance and monitoring of sites that have historically been addressed under CERCLA. Since the inception of the AHSCF, approximately 320 sites have been addressed, with almost 290 sites remediated to a point where no further action is warranted. Funding for AHSCF activities is generated by legislative appropriations, fees from hazardous waste disposal and reimbursements from potentially responsible parties. For fiscal year 2007, legislative appropriations and tax revenue were $135,626. According to the AHSCF Annual Report, there were no clean up sites in Baldwin County for fiscal year 2007. Further research of ADEM documents show there were no clean up sites as far back as 2001. 42 3.12 NOISE 43 44 45 46 3.12.1 Noise Fundamentals Sound is a physical phenomenon consisting of minute vibrations that travel through a medium, such as air, and are sensed by the human ear. Noise is defined as any sound that is undesirable because it interferes with communication, is intense enough to damage hearing, or is otherwise intrusive. Human Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-88 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 response to noise varies depending on the type and characteristics of the noise, distance between the noise source and the receptor, receptor sensitivity, and time of day. Noise can interfere with communication, produce awakenings from sleep or, in some cases, damage the ear. Noise is often generated by activities essential to a community’s quality of life, such as construction or vehicular traffic. Sources of noise that have the potential to affect wildlife include aircraft overflights; recreational activities like motor boating and snowmobiling; domestic sources such as leaf blowers, lawnmowers, and chainsaws; automobile traffic; and heavy machinery and equipment. Responses vary among species of wildlife as well as among individuals of a particular species, although the problems are similar to those found in humans. Increased noise levels mask sounds used by wildlife for communication; for example, they mask the squeaking of babies that parents use to locate their young or calls used to locate a mate. Behavioral and physiological responses have a potential to cause injury, energy loss (from movement away from the noise source), decreased food intake, habitat avoidance and abandonment, and reproductive losses. Sound varies by both intensity and frequency. Sound pressure level (SPL), described in decibels (dB), is used to quantify sound intensity. The dB is a logarithmic unit that expresses the ratio of an SPL to a standard reference level. Hertz (Hz) are use to quantify sound frequency. The human ear responds differently to different frequencies. A-weighing, described in a-weighted decibels (dBA), approximates this frequency response to express accurately the perception of sound by humans. Sounds encountered in daily life and their approximate level in dBA are provided in Table 49. Table 49. Common sounds and their level Outdoor Snowmobile Tractor Noisy restaurant Downtown (large city) Freeway traffic Normal conversation Rainfall Quiet residential area 24 25 26 27 28 29 30 31 Sound level (dBA) 100 90 85 80 70 60 50 40 Indoor Subway train Garbage disposal Blender Ringing telephone TV audio Sewing machine Refrigerator Library Source: Harris 1998 The ability to perceive changes in noise levels varies widely from person to person, as do individuals’ responses to perceived changes. In general, a 3-dBA change in noise level is barely perceptible to most listeners. A 10-dBA change is normally perceived as a doubling (or halving) of noise levels and is considered a substantial change. These thresholds make it possible to estimate a person’s probable perception of changes in noise levels (Table 50). Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-89 Draft Environmental Impact Statement 1 Table 50. Perception of changes in noise levels Change in dBA Perception 3 Barely perceptible change 5 Readily perceptible change 10 Twice or half as loud 20 Four times or 1/4 as loud 40 Eight times or 1/8 as loud 2 3 4 5 6 7 8 9 10 Source: FHWA 1995 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 3.12.2 Regulatory Overview Many different metrics can be calculated to describe sound. In addition to A-weighted SPL, this EIS uses the DNL to describe the noise environment. DNL is defined as the average sound energy in a 24-hour period with a 10-dB penalty added to the nighttime levels (10 p.m. to 7 a.m.). DNL is a useful descriptor for noise because (1) it averages ongoing yet intermittent noise, such as aircraft overflights, and (2) it describes total sound energy over a 24-hour period. Studies of community annoyance to numerous types of environmental noise show that DNL correlates well with individual annoyance and community reaction to noise (FICON 1992). In 1974 EPA published Information on Levels of Environmental Noise Requisite to Protect Public Health and Welfare with an Adequate Margin of Safety (USEPA 1974). This publication evaluates the impacts of environmental noise with respect to health and safety. The document provides information to help agencies develop noise standards and regulations. EPA recommends that DNL should not exceed 55 dBA to protect public welfare. However, this levels document also outlines other requirements that should be balanced to achieve the outlined 55-dBA goal. These other requirements include cost, technological feasibility, and other public safety issues. In June 1980, a Federal Interagency Committee on Urban Noise published guidelines (FICUN 1980) relating DNL to compatible (and incompatible) land uses. Since these guidelines were issued, federal agencies have generally adopted the aircraft-related noise analyses. Although these guidelines are not mandatory, they are the most accepted criteria used to assess the impacts of noise in areas surrounding airports. In general, residential land uses are not compatible with an outdoor DNL above 65 dBA. The Aviation Safety and Noise Abatement Act of 1979 established provisions for submitting noise exposure maps and noise compatibility programs to carry out the purpose of the Act; i.e., to reduce existing noncompatible lands uses, and prevent the introduction of additional noncompatible uses (FAA 2004). Alabama does not regulate noise at the state level. Local ordinances have been established instead to regulate noise. The zoning ordinance for Gulf Shores outlines noise guidelines for the development within the Jack Edwards Airport Noise Overlay district (Article 8-22). The article requires minimum noise attenuation construction standards for all structures in the boundaries of the Jack Edwards Airport Noise Overlay District (Figure 40). The ordinance is primarily to ensure land use compatibility and the continued prosperity of the Jack Edwards Airport. Gulf Shores also has a general noise nuisance ordinance that restricts, generally, unwanted sound. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-90 Draft Environmental Impact Statement 1 2 Figure 40. 2005 Jack Edwards Airport noise contours Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-91 Draft Environmental Impact Statement 1 2 3 4 5 Orange Beach has a local noise ordinance that identifies maximum permissible sound levels for different land uses (Table 51). Construction, emergency signaling devices, motorboats, domestic power tools, and the unamplified human voice are sources of noise that are specifically exempt from these limits. However, construction, demolition and the use of pile drivers and hammers are limited to the hours between 7:00 a.m. and 9:00 p.m. on weekdays. 6 7 Table 51. Orange Beach maximum permissible sound levels (dBA) by receiving land use Sound source land use category Receiving land use category Residential Commercial Unzoned/other Residential Sunday–Thursday 7:00 a.m.–10:00 p.m. 10:00 p.m.–7:00 a.m. Friday--Saturday 7:00 a.m.–11:00 p.m. 11:00 p.m.–7:00 a.m. Commercial 7:00 a.m.–11:00 p.m. 11:00 p.m.–7:00 a.m. Unzoned/Other 7:00 a.m.–11:00 p.m. 11:00 p.m.–7:00 a.m. 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 55 50 65 65 70 65 65 50 65 65 70 65 65 50 65 65 70 65 55 50 65 65 70 65 Source: Code of Ordinances—Orange Beach Article III Noise, Sec. 30-48 3.12.3 Aircraft Noise Noise levels near Jack Edwards Airport are typical for a midsized, regional airport. The airport has two runways handling approximately 95,000 air operations per year combined. One runway is approximately 7,000 feet long, is orientated east to west, and is the predominant access to the airport for regional jets. The other runway is approximately 4,000 feet long, runs from north to south, and handles the bulk of the propeller plane operations in and out of the airport. The aircraft operations are anticipated to increase significantly over the short-term (next 10 years). Compatible noise contours for the airport have been developed for the airport for the years 2005 and 2010 and are showed on Figures 40 and 41, respectively. These contours outline the areas exposed to greater than 65 dBA DNL. The existing (2005) incompatible land use contours are contained primarily on the airport grounds. However, the expected future (2015) incompatible land use contours extend significantly beyond the airport’s east and west property boundaries. Several other airports and air installations were identified within 50 miles of the proposed sites. However the proposed sites are not under the flight paths of or within the incomparable use zones of the Foley Municipal Airport, Sonny Callahan Airport, Pensacola Naval Air Station (Forrest Sherman Field), Pensacola Regional Airport, or Mobile Downtown Airport. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-92 Draft Environmental Impact Statement 1 2 Figure 41. 2015 Jack Edwards Airport noise contours Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-93 Draft Environmental Impact Statement 1 2 3 4 5 6 7 3.12.4 Boating Noise 8 3.13 LIGHT POLLUTION The proposed developments will include additional waterway traffic, which has the potential to contribute to noise pollution in the Gulf Shores and Orange Beach area. No previous studies have been conducted regarding boat traffic and its impacts on noise pollution on the GIWW. Gulf Shores has no regulations regarding noise pollution from boating activities. Chapter 30, Article III of Orange Beach’s Code of Ordinances addresses noise pollution but does not specifically address waterway activities. 9 10 11 12 13 14 15 16 17 18 19 3.13.1 Overview 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 3.13.2 Marine Navigation 39 40 41 42 43 44 45 Light pollution can be defined as excessive brightening of the night sky by artificial and anthropogenic light sources. Light pollution has been further subdivided into astronomical light pollution, which obscures the view of the night sky, and ecological light pollution, which alters natural light regimes in terrestrial and aquatic ecosystems (Longcore and Rich 2004). Sources of light pollution include lighted buildings and towers, streetlights, security lights, vehicle lights, and offshore oil platforms. The 16 proposed developments could contribute to an increase in light pollution along the shoreline of the FLC in the Gulf Shores and Orange Beach vicinity. This potential increase in light pollution might impact FLC marine navigation or surrounding community ecology. No information is available regarding existing light pollution impacts in the FLC vicinity. Nighttime marine navigation, for both commercial and recreational vessels, can be impaired by shoreline lighting systems by impeding the vessel operator’s view of night navigation aids, such as buoys. Buoys are typically lowly illuminated or have reflective surfaces and are most impactive under low-light conditions. Background glare from shoreline lights makes it difficult for boaters to maintain a visual fix on the buoys because of a washing out impact or shadowing. This type of light pollution can cause unsafe approaches to and under bridges where shadowing causes involuntary eye pupil adjustments, increasing the risk of collision or grounding (Noles 2001). In addition, impaired boater vision contributes to fatigue and disorientation, which can lead to an increase in boating accidents. During interviews with commercial barge operators who use the FLC, light pollution was mentioned as a cause of navigational problems on the waterway. Recreational users of the FLC did not list light pollution as a cause of navigational problems on the waterway. To mitigate shoreline light intrusion on waterway traffic, it is suggested that lights impeding waterway visibility be retrofitted or shielded to reduce background glare and increase boater vision of navigation aids. In addition, all unnecessary lighting should be discontinued or used only when needed. State and local governments can introduce legislation that regulates intrusive shoreline lighting along waterways for boating safety (Noles 2001). Presently, there are no shoreline lighting regulations for areas along the FLC in Gulf Shores and Orange Beach. 3.13.3 Community Ecology Of the seven marine turtle species that exist today, six are listed as endangered and one is listed as threatened. Three of these species, Green, Kemp’s Ridley, and Loggerhead, nest in coastal Alabama. Anthropogenic impacts are the main cause for marine turtle decline, including loss of habitat and habitat alteration. One type of habitat alteration that has been found to affect marine turtles during the nesting period is light pollution. Critical sea turtle behaviors affected by light pollution include the selection of nesting sites by adult turtles and the movement off the beach by hatchlings and adults (FMRI 2000). Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-94 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 The sea turtle nesting season in coastal Alabama occurs between May 1st and October 31st. Female turtles deposit their eggs above the high-tide line on sand beaches, and nesting occurs almost exclusively at night. One of the most clearly demonstrated impacts of artificial light on shorelines is to deter female turtles from emerging to lay their eggs (Witherington and Martin 1996). Lighting can cause females to choose less appropriate nesting sites, which, in turn, affects the number of hatchlings and the sex ratios. Females turned away repeatedly from nesting also have the potential to drop their eggs in the ocean (Witherington and Martin 1996). 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 3.13.4 Mitigation Measures Marine turtles typically hatch at night, and the hatchlings rely on natural light to orient themselves toward the sea. Typically, the horizon over the water is brighter than it is over the land. As such, turtles will orient themselves toward the brightest light source to return to the sea. It has been documented that hatchlings are generally attracted to light sources that are approximately 300 feet to 650 feet away from the nest, and generally moved towards the ocean if lights were approximately 1600 feet to 2600 feet away (Pendoley 2005). Because of development along coast lines and increasing light pollution, the brightest light source can be inland, away from the water. This results in disorientation for turtles as they attempt to return to the sea, instead, heading inland. Heading inland usually results in death for the turtle from predators, exhaustion, or desiccation (Nicholas 2001). In addition to lights along coastlines, lights inland for miles can emit a strong enough glow to disorient marine turtles (Nicholas 2001). Factors, including color, brightness, proximity to the beach, and broadcast characteristics, combine to determine the relative attractiveness of a light source to a hatchling. Turtles have a relatively high sensitivity to short wavelengths, especially to light in the near-UV to yellow region of the visible spectrum (360 to 600 nm) (Witherington and Martin 1996; Lohmann et al. 1997). Hatchlings also assess light through a broad flat cone of acceptance,9 which implies that the light reaching the hatchling from all sources combined is more important in influencing orientation than is the brightness of light emanating from a particular source (Ecological Associates 2002). Thus, impactive management tactics include selecting some lights to be turned off, controlling light so that the level reaching the beach is minimized, and ensuring that the light that does reach the beach is the least disruptive color.10 The most readily accepted strategy for solving light-pollution problems is to manage light rather than prohibit it (FMRI 2000). The proposed project sites are approximately two miles from the coast; therefore, simple solutions will decrease light pollution impacts to navigation and nesting sea turtles. Many alternatives exist that minimize lighting from outdoor sources and allow the function of the lighting to be retained or even enhanced. Alternatives include the following: • Reducing the wattage of the lighting reduces the amount of light emitted. • Substituting luminaries that are better focused so that the light can be concentrated. For instance, substituting higher wattage multidirectional luminaries with lower wattage directional luminaries. • Install light shields. To be impactive, light shields should be completely opaque, sufficiently large, and positioned so that light from the shielded source does not reach the beach. Light shields can be fashioned from inexpensive materials such as aluminum, galvanized steel flashing, and plywood. • Recessed luminaries in roof soffits are more directional and, if directed downward, are less visible than multidirectional lighting. • Lower pole mounted luminaries provide a substitute for pole-mounted lighting. • Position luminaries to take advantage of natural light screens. 9 For more on this, including diagrams, see Ecological Associates (2002). For a more thorough review and assessment of lighting impacts on sea turtles and other nocturnal animals, see Witherington and Martin (1996), Lohmann et al. (1997), and Witherington (1997). 10 Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-95 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 • • • • Install timers to switch off lighting when it is no longer needed in the evening. Install motion detector switches. Install visors or louvers to stadium lighting. Plant native dune vegetation as a light screen. Indoor lighting can also pose problems if it is visible. Strategies to mitigate this problem include the following: • Turn off lights in rooms that are not in use • Tint or apply window treatments to windows visible from the beach • Close opaque curtains or blinds after dark If efforts to dim, redirect, or block light are not entirely impactive, using alternative, long-wavelength (ultraviolet, violet, blue and green) light sources could help reduce errant light. Long-wavelength light is not completely harmless, so it should be considered along with other light-management techniques. Lowpressure sodium vapor (LPS) lighting is the least disruptive to sea turtles among commonly used, commercially available light sources. Bug lights, which are tinted yellow to reduce the emission of insectattracting short-wavelength light, are also minimally disruptive, but are poorer alternatives to LPS lighting. Enhancing the dune profile is another way to mitigate errant light. Alternatives include the following: • Plant native vegetation on the dune • Erect artificial light screens on the dune • Fill in and replant dune cuts, pathways, and washout areas (misoriented hatchlings often exit the beach through these lighted gaps in the dunes) • Provide emerging hatchlings shielded pathways from nest to surf There is no single criterion of light intensity that is applicable to every navigation and sea turtle nesting situation under every set of lighting conditions. Given this, best available technology forms the basis of light management methods that reduce the impacts of artificial lighting to the greatest extent possible. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 3-96 Draft Environmental Impact Statement 1 4.0 ENVIRONMENTAL CONSEQUENCES 2 4.1 Introduction 3 4 5 6 7 8 9 This section presents the results of the analysis of direct, indirect, and cumulative environmental and socioeconomic impacts that would likely occur upon implementation of the No Action Alternative, Maximum Boat Slip Alternative, and Minimum Boat Slip Alternative (Preferred Alternative). In addition, this section identifies any adverse environmental impacts that cannot be avoided; the relationship between short-term uses of the environment and the maintenance and enhancement of long-term productivity; and any irreversible or irretrievable commitment of resources that would be involved in implementing the proposed action. 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 4.1.1 Direct versus Indirect Impacts The terms impact and effect are synonymous as used in this EIS. Impacts could be beneficial or adverse and could apply to the full range of natural, aesthetic, historic, cultural, and economic resources of the FLC and the surrounding area. Definitions and examples of direct and indirect impacts as used in this document are as follows: • Direct Impact. A direct impact is one that would be caused directly by implementing one of the three alternatives and that would occur at the same time and place. • Indirect Impact. An indirect impact is one that would be caused by implementing one of the three alternatives and that would occur later in time or farther removed in distance but would still be a reasonably foreseeable outcome of the action. Indirect impacts could include induced changes in the pattern of land use, population density, or growth rate, and indirect impacts to air, water, and other natural resources and social systems. • Relationship of Direct versus Indirect Impacts. For direct impacts to occur, a resource must be present. For example, if highly erodible soils were disturbed as a direct result of the use of heavy equipment during construction of a development, there could be a direct impact on soils due to erosion. This could further indirectly affect water quality if storm water runoff containing sediment from the construction site enters adjacent water bodies. 4.1.2 Short-term versus Long-term Impacts Impacts are also expressed in terms of duration. The duration of short-term impacts is considered to be one year or less. For example, the construction of a building would likely expose soil in the immediate area of construction. However, this impact would be considered short-term because it would be expected that vegetation would be reestablished on the disturbed area within a year of the disturbance. Long-term impacts are described as lasting beyond one year. They can potentially continue into perpetuity, in which case they would also be described as permanent. 4.1.3 Cumulative Impacts Evidence is increasing that the most severe environmental consequences do not result from the direct impacts of any particular action, but from the combination of impacts of multiple, independent actions over time. As defined in 40 CFR 1508.7 (CEQ Regulations), a cumulative impact is the “impact on the environment which results from the incremental impact of the action when added to other past, present, and reasonably foreseeable future actions regardless of what agency (Federal or non-Federal) or person undertakes such other actions.” Some authorities contend that most environmental impacts can be seen as cumulative because almost all systems have already been modified. Principles of cumulative impacts analysis, as described in the CEQ guide Considering Cumulative Impacts under the National Environmental Policy Act, are presented in Table 52. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-1 Draft Environmental Impact Statement 1 Table 52. Principles of Cumulative Impacts Analysis Cumulative impacts are caused by the aggregate of past, present, and reasonably foreseeable future actions. Cumulative impacts are the total impacts, including both direct and indirect impacts, on a given resource, ecosystem, and human community of all actions taken, no matter who (federal, nonfederal, or private) has taken the actions. Cumulative impacts need to be analyzed in terms of the specific resource, ecosystem, and human community being affected. It is not practical to analyze the cumulative impacts of an action on the universe; the list of environmental impacts must focus on those that are truly meaningful. Cumulative impacts on a given resource, ecosystem, and human community are rarely aligned with political or administrative boundaries. Cumulative impacts could result from the accumulation of similar impacts or the synergistic interaction of different impacts. Cumulative impacts could last for many years beyond the life of the action that caused the impacts. Each affected resource, ecosystem, and human community must be analyzed in terms of the capacity to accommodate additional impacts, based on its own time and space parameters. 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 4.1.4 Intensity of Impacts The following terms are used to describe the degree of direct and indirect impacts, whether they are adverse or beneficial: • • • • Negligible – the impact is at the lowest levels of detection. Minor – the impact is slight but detectable. Moderate – the impact is readily apparent. Major – the impact is severely adverse or exceptionally beneficial. The descriptor “major” does not imply a significant impact (see below) unless specifically stated. Refer to the following section for a discussion of significance. 4.1.5 Significance In accordance with CEQ regulations and implementing guidance, impacts are also evaluated in terms of their being significant. The term significant, as defined in 40 CFR 1508.27, part of the CEQ regulations for implementing NEPA, requires considerations of both context and intensity. Context means that the significance of an action must be analyzed in several settings, such as society as a whole, the affected region, the affected interests, and the locality. Significance varies with the setting of the proposed action. For instance, in the case of a site-specific action, significance would usually depend on the impacts on the locale rather than on the world as a whole. Both short- and long-term impacts are relevant to the consideration of the significance of an impact. Intensity refers to the severity of impact and includes the ratings described in Section 4.1.4 (i.e., negligible through major). Factors contributing to the evaluation of the intensity of an impact include, but are not limited to, the following: • The balance of beneficial and adverse impacts, in a situation where an activity has both. • The degree to which the action affects public health or safety. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-2 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 • • • • • • • • 4.1.6 The unique characteristics of the geographic area where the action is proposed, such as proximity to parklands, historic or cultural resources, wetlands, prime farmlands, wild and scenic rivers, and ecologically critical areas. The degree to which the impacts on the quality of the human environment are likely to be controversial. The degree to which the impacts of the action on the quality of the human environment are likely to be highly uncertain or involve unique or unknown risks. The degree to which the action might establish a precedent for future actions with significant impacts or represents a decision in principle about a future consideration. Whether the action is related to other actions with individually insignificant but cumulatively significant impacts. Significance exists if it is reasonable to anticipate a cumulatively significant impact on the environment. Significance cannot be avoided by terming an action temporary or by breaking it down into small component parts. The degree to which the action might adversely affect districts, sites, highways, structures, or objects listed in or eligible for listing in the NRHP or might cause loss or destruction of significant scientific, cultural, or historical resources. The degree to which the action might adversely affect an endangered or threatened species or habitat that has been determined to be critical under the Endangered Species Act of 1973. Whether the action threatens a violation of federal, state, or local law or requirements imposed for the protection of the environment. Rationale for Alternative Analysis The USACE has identified the No Action Alternative, Maximum Boat Slip Alternative, and Minimum Boat Slip Alternative as the principal alternatives for detailed analysis. The underlying rationale for each of the alternatives developed for the analysis section is described here. 4.1.6.1 No Action Alternative Under the No Action Alternative, the USACE would not issue any permits and would not allow any of the proposed marinas to be constructed on the FLC (see Section 2.3.2.1). The number of wet boat slips on the FLC, not including single-family residential boat slips, would remain at 610 and no slips would be added. The proposed uplands developments could be constructed along the FLC and Oyster Bay, but dredging of uplands, waterbottoms, or wetlands for marina construction would not be permitted. While the proposed upland developments could be constructed, developers of the proposed communities identified the proposed locations based on the market demand of the area and the motivational factors associated with their targeted customer group, specifically that the number one amenity requested by the group is waterfront location and access (see Section 1.2). Having marinas directly connected to the fishing and recreational boating opportunities via Bon Secour Bay, Wolf Bay, Mobile Bay, Perdido Bay, and the Gulf of Mexico is critical to developing the resort communities. The alternatives analysis therefore, evaluates the No Action Alternative as an alternative under which construction of the proposed upland developments could occur, however, recognizes that the decisions to proceed with upland development are dependent on the decisions independently made by the developers, based on market demands. 4.1.6.2 Maximum Boat Slip Alternative Under the Maximum Boat Slip Alternative, the USACE would approve permits for up to 3,093 boat slips on the FLC through the year 2025 (see Section 2.3.2.2). The alternatives analysis assumes a full build out scenario for the proposed upland developments under this alternative. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-3 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 4.1.6.3 Minimum Boat Slip Alternative (Preferred Alternative) Under the Minimum Boat Slip Alternative, which has been selected as the Preferred Alternative, the USACE would initially approve permits for 1,943 boat slips through the first year of construction, with the option of phasing-in 1,150 additional boat slips until the maximum number of slips (3,093) is reached (see Section 2.3.2.3). If during this evaluation period it is determined that increased recreational boat traffic is having adverse impacts on commercial barge navigation or safety, the USACE has the authority to deny permits for additional boat slips on the FLC. Due to the multiple different build out scenarios for the proposed upland developments that could be employed by the developers under this alternative, it is not possible to quantitatively evaluate the impacts of this alternative in the various time horizons. The impacts analysis for the Minimum Boat Slip Alternative thus assumes that impacts would be similar to the Maximum Boat Slip Alternative; however, the impacts would increase in proportion to the phased upland development. 13 14 4.2 LAND USE AND LAND COVER 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 4.2.1 41 42 43 44 45 46 47 No Action Alternative Direct Impacts to Land Use and Land Cover Direct impacts to land use and land cover could occur under the No Action Alternative. Although permits for boat slips would not be issued under the No Action Alternative, the proposed upland developments could be constructed. Whether or not the developments would occur would depend on the market demand for waterfront property without direct water access. If the upland developments are constructed, the impacts would be similar to the impacts described below for the Maximum Boat Slip Alternative. Development under the No Action Alternative would be at a more modest scale because the boat slips themselves would not be constructed, and because the lack of boat slips could affect the decision to develop this area,, reducing the amount of development of the upland waterfront property. If the upland development does occur, undeveloped, upland pine habitat would be converted to mixed use developments. The developments would include parking lots, residential and commercial buildings, and other associated infrastructure. The increase in infrastructure would result in an increase in impervious land cover and a decrease in vegetative land cover within the proposed developments. No conflicts with existing state, county, or local land use plans, policies, or controls would be anticipated to occur if the No Action Alternative was implemented, and thus no impacts on land use controls would be expected. Current land use plans would continue to provide guidance for development in the adjacent areas, including the Gulf Shores Land Use Plan, Plash Island/Bon Secour River Land Use Study, Jack Edwards Airport Master Plan, Fort Morgan Peninsula Study and the City of Orange Beach Preservation and Growth Management Plan. Indirect Impacts to Land Use and Land Cover Short-term and long-term indirect moderate adverse impacts on land cover could be expected if the No Action Alternative is implemented, as there could be an increase in impervious surface in the project area. The impacts would be similar to the impacts described for the Maximum Boat Slip Alternative. 4.2.2 Maximum Boat Slip Alternative Direct Impacts to Land Use and Land Cover Under the Maximum Boat Slip Alternative, land use would be directly impacted. Undeveloped, upland pine habitat and, in some areas, narrow marsh fringe along the northern shoreline of the FLC, would be converted to mixed use developments, which could include approximately 19 acres retail, 11 acres commercial, 6 acres restaurant, 727 acres greenspace and 52 acres of park space. The developments would include parking lots, residential and commercial buildings, and other associated infrastructure. The Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-4 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 increase in infrastructure would result in an increase in impervious land cover and a decrease in vegetative land cover within the proposed developments. No conflicts with existing state, county, or local land use plans, policies, or controls would be anticipated if this alternative was implemented, and thus no impacts on land use controls would be expected, although, land use would change from agriculture/forest to residential and retail/commercial. The current land use plans described in Section 3.2.5 would continue to provide guidance for development in the adjacent areas. Specifically, the land use plans for Gulf Shores and Orange Beach focus on development patterns that would support the resort destination vision of the area. Transportation and mobility, enhancing recreational activities, promoting commercial and economic development, protecting the natural environment, and adopting zoning regulations to promote smart growth of the area are focal points of the land use plans. Implementation of the land use plans is currently in the planning stage and would continue to progress as the area experiences growth. Indirect Impacts to Land Use and Land Cover Short-term and long-term indirect moderate adverse impacts on land cover would be expected if the Maximum Boat Slip Alternative is implemented, as there would be an increase in impervious surface in the project area. Impervious surfaces are impenetrable surfaces, such as pavement and rooftops, through which water cannot flow. Such surfaces cause channeling and increased flow of water at collections points at down-gradient points on the surfaces. Although impervious surfaces do not generate pollution, they (1) are a critical contributor to the hydrologic changes that impact waterways; (2) are a major component of the intensive land uses that generate pollution; (3) prevent natural pollutant processing in the soil by preventing percolation; and (4) serve as an efficient conveyance system transporting pollutants into the waterways. The threshold value of imperviousness at which stream degradation first occurs is 10 percent impervious cover, which is indicative of an “impacted” stream or watershed (Arnold and Gibbons 1996). The increase in impervious area could impact groundwater recharge, stormwater drainage, and water pollution in the project area. Groundwater recharge could decrease as the surface area available for infiltration is decreased. The volume of stormwater draining from the sites would increase as the impervious area increases. This could result in more stormwater discharged into the FLC, which could impact the pollutant load into the waterway. Construction BMPs and a SWPPP would be employed to decrease erosion and stormwater runoff from disturbed soils and to prevent leakages and spills from construction-related equipment and activities into the FLC and surrounding water bodies. Requiring impervious areas greater than a specified area to be located farther back from the water’s edge provides an opportunity to attenuate the runoff from these areas via infiltration and filtering through vegetative buffers. 4.2.3 Minimum Boat Slip Alternative Direct and Indirect Impacts to Land Use and Land Cover The impacts under the Minimum Boat Slip Alternative would be similar to the impacts described in the Maximum Boat Slip Alternative; however, the impacts under this alternative would be expected to increase proportional to the phased development. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-5 Draft Environmental Impact Statement 1 4.3 WATER RESOURCES AND WATER QUALITY 2 4.3.1 Watershed Characterization 3 4 5 6 7 8 9 10 11 4.3.1.1 No Action Alternative 12 13 14 15 16 17 4.3.1.2 Direct and Indirect Impacts to Watershed Characterization The No Action Alternative would have negligible impacts on the watershed hydrology and hydraulics if the proposed upland developments are constructed. Stormwater runoff (hydrology) from impervious surfaces of developed areas would be detained using construction BMPs. These could include retention basins, infiltration basins, and first flush storage basins to mitigate the impact of the development on the water quality of stormwater, flood control, and channel erosion. Though overland changes are expected, the tidal volume and velocity (hydraulics) in the FLC would not be impacted by changes in the timing of peak flows from surface water. Maximum Boat Slip Alternative Direct and Indirect Impacts to Watershed Characterization The Maximum Boat Slip Alternative would have negligible impacts on the watershed’s hydrology and hydraulics. Construction BMPs would detain stormwater runoff from impervious areas and the timing of surface water peak flows entering the FLC could be altered. However, tidal volume and velocity in the FLC channel would not be impacted by additional inlets from new marinas. 4.3.1.3 Minimum Boat Slip Alternative 18 19 20 21 Direct and Indirect Impacts to Watershed Characterization The Minimum Boat Slip Alternative would have negligible impacts on the watershed’s hydrology and hydraulics, similar to the impacts described in the Maximum Boat Slip Alternative. 22 4.3.2 23 24 25 26 27 28 29 30 31 32 33 34 35 4.3.2.1 No Action Alternative 36 37 38 39 40 41 Hydrogeology/Groundwater Direct and Indirect Impacts to Hydrogeology/Groundwater The proposed upland developments would be connected to existing municipal water supplies and wastewater treatment facilities. The increased potable water use described in Section 3.4.2 would serve the upland development areas, and not the marinas proposed in this EIS. Therefore, any impacts resulting from an increase in groundwater withdrawals to supply potable water to the upland developments would likely be the same regardless of the number of marinas constructed. Drawdown impacts or saltwater intrusion would remain unchanged by the addition of marinas. Upland development would result in decreased pervious surface, decreasing the amount of rainfall infiltrating to groundwater. The total developed area is less than one percent of the total drainage area. Given the total watershed area of the drainage basin versus the developed area, any change in the resultant recharge to groundwater would be negligible. 4.3.2.2 Maximum Boat Slip Alternative Direct and Indirect Impacts to Hydrogeology/Groundwater The addition of marinas in the Maximum Boat Slip Alternative does not add any notable impact on groundwater or hydrogeology. The only long-term impacts expected in this alternative are due to decreased infiltration adjacent to the FLC and would be negligible. As in the No Action Alternative, upland development would change some pervious surfaces to impervious surfaces, such as parking lots Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-6 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 and rooftops. Given the total watershed area of the drainage basin versus the developed area, the resultant change in recharge to groundwater would be negligible. Neither the potable water demand nor wastewater load to local municipalities would change from those anticipated in the No Action Alternative. The only changes in recharge and groundwater withdrawals would be due to the upland development. In the Maximum Boat Slip Alternative, the upland development would continue, similar to the No Action Alternative. As a result, the addition of the maximum number of marinas would not affect hydrogeology or groundwater. 4.3.2.3 Minimum Boat Slip Alternative 9 10 11 12 13 14 15 16 17 18 19 20 21 The only long-term impacts expected in this alternative would be due to decreased infiltration and would be negligible. As described in the No Action Alternative, upland development would change some pervious surfaces to impervious surfaces. Because the total developed area is less than one percent of the total drainage area, the resultant change in recharge to groundwater would be negligible. 22 4.3.3 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 4.3.3.1 No Action Alternative Direct and Indirect Impacts to Hydrogeology/Groundwater The Minimum Boat Slip Alternative would have negligible impacts on groundwater and hydrogeology. Upland developments would be connected to local municipal water supplies. Neither the potable water demand nor wastewater load to local municipalities would change from those anticipated in the No Action Alternative. The only changes in recharge and groundwater withdrawals would be due to the upland development. As a result, the impacts of hydrogeology or groundwater would be similar to the impacts described in the Maximum Boat Slip Alternative. Water Quality Direct and Indirect Impacts to Water Quality The No Action Alternative would have negligible impacts on water quality. Under the No Action Alternative, sources contributing to pollutant loadings are from the surrounding watershed, upland developments (of land use activities adjacent to the FLC), point sources, and boating activities. Loads from the surrounding watershed would remain consistent with existing conditions. Assuming development occurs in upland areas in the No Action Alternative, stormwater pollutant loads could be a factor influencing water quality in the FLC. Upland development would also increase the number of residents in the ROI and increase the demand on wastewater treatment facilities. Under the No Action Alternative, the number of wet boat slips on the FLC, not including single-family residential boat slips, would remain at 610 and no slips would be added, having no change on existing water quality conditions. Development along the FLC in upland areas would increase the impervious area and pollutants, such as sediment and nutrients. The increase in these pollutant loads would be negligible with implementation of BMPs both during and after construction. These could include retention basins, infiltration basins, and first flush storage basins to mitigate the impact of the development on the water quality of stormwater, flood control, and erosion. BMPs would be managed to ensure their efficiency. Sedimentation in waterbodies is often caused by improper installation and maintenance of BMPs during construction. After construction, BMPs implemented to detain water, settle sediment, and decrease nutrients would be maintained by marina land owners to ensure efficiency rates are maintained. The upland developments would also be connected to existing municipal wastewater treatment facilities. The increased wastewater would be created from the upland development areas, and not the marinas proposed in this EIS. Therefore, an increase in the discharge from wastewater treatment facilities resulting from upland development would likely be the same regardless of the number of marinas constructed. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-7 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 4.3.3.2 Maximum Boat Slip Alternative Direct and Indirect Impacts to Water Quality The Maximum Boat Slip Alternative would have negligible impacts on water quality in the FLC, based on results obtained using the water quality model EFDC which simulated the impacts of the proposed developments and the addition of new marinas (Appendix S). This modeling effort was conducted to consider the impacts of loads from the surrounding watershed and loads from upland development on water quality in the FLC. The model was first calibrated to existing conditions for the FLC, where the land use activities were simulated as represented by the 2001 USGS National Land Cover Dataset. The model was then updated to include the proposed marinas and land use activities were altered to represent the presence of upland development, utilizing data from three stations monitored by ADEM in and around the FLC (WO1A in Wolf Creek, IC1A in the Intracoastal Waterway in Gulf Shores, and at Bon Secour River at Oyster Bay Canal). The modeled results for existing conditions and conditions after marina development were compared. These results indicate little change in DO, total nitrogen, total phosphorus, and fecal coliform. DO standards have historically posed a problem for water quality in the FLC, specifically during the summer months; although since 2003 the FLC has met the Alabama state standard (Section 3.3.3). Model results simulated the month of July and indicated an average DO of 5.1 mg/L under the Maximum Boat Slip Alternative, meeting the Alabama state standard of <5.0 mg/L. Appendix S presents the modeled results for both conditions. The modeled results of the proposed developments evaluate the impact on the entire system. The results indicate that by changing land use activities in less than one percent of the watershed area of this system, little change would result. Results also assume that BMPs would be implemented in the project area. BMPs could include retention basins, infiltration basins, and first flush storage basins to mitigate the impact of the development on the water quality of stormwater, flood control, and erosion. Correct BMP installation and maintenance is important to prevent sedimentation in waterbodies. After construction, BMPs implemented to detain water, settle sediment, and decrease nutrients would be maintained by land owners to ensure efficiency rates are maintained. There is also a need for residents to curb domestic pets, pickup their waste, and dispose of waste in trash reciprocals. Localized impacts at individual marinas were evaluated using equations provided in Environmental Impacts: Assessment Techniques of Marinas by the EPA. These equations were used to determine the DO remaining in each marina during a critical period. Since the development of this guidance, a number of measures have been taken to improve water quality for marinas, including the Alabama Clean Boating Act. This Act authorizes inspections of MSDs by the ALDCNR on all recreational and residence vessels that carry an on-board sewage system. The law also requires all marinas with boat customers that use MSDs with holding tanks to install a boat sewage pump-out system for handling boating wastes at their facility. Marinas without pump-out or waste reception capability are prohibited from docking vessels with on-board holding tanks containing untreated waste (Outdoor AL 2008). The Alabama Clean Boating Act requires the proper management and disposal of pollutant loads that would have historically contributed to water quality degradation. With current requirements, loads from marinas would not impact water quality in the marinas or in the FLC. Historically, large loads of oxygen consuming wastes were disposed of in marinas from onboard wastewater and through disposal of fish waste. Under the Alabama Clean Boating Act, marinas must implement pump-out stations for wastewater and fish cleaning stations. The DO represented by the EFDC model from the FLC are considered ambient conditions entering and remaining in marinas. Therefore, water quality standards would be achieved under this alternative in the FLC, as well as in the proposed marinas. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-8 Draft Environmental Impact Statement 1 2 3 4 5 4.3.3.3 6 4.4 INFRASTRUCTURE 7 4.4.1 8 9 10 11 12 13 14 15 16 17 18 19 Minimum Boat Slip Alternative Direct and Indirect Impacts to Water Quality The Minimum Boat Slip Alternative would have negligible impacts on water quality in the FLC, similar to the impacts described under the Maximum Boat Slip Alternative. Traffic and Transportation 4.4.1.1 No Action Alternative Direct and Indirect Impacts to Traffic and Transportation Direct impacts to traffic and transportation could occur under the No Action Alternative. The results of a travel demand model, commissioned by Baldwin County as part of the Countywide Comprehensive Plan (Baldwin County Commission, 2008), show the projected growth of traffic to the year 2030. The travel demand model assumed growth and historical trends, and utilized average daily traffic volumes to indicate traffic growth on specific roadways, as well as anticipating new roadways. The projected traffic volumes are shown in Figure 42. The percentage of traffic growth for the roadways and a comparison of the current roadway capacities are shown in Table 53. Figure 42. 2030 Projected Average Daily Traffic 20 Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-9 Draft Environmental Impact Statement 1 Table 53. Existing and Future Average Daily Traffic Average Daily Traffic Counts Location 2005 S.R. 180 West of S.R. 161 S.R. 180 East of S.R. 161 S.R. 182 West of S.R. 161 S.R. 182 East of S.R. 161 S.R. 161 S.R. 182 at Florida State Line S.R. 59 south of Intracoastal Waterway C.R. 4 West of S.R. 59 2005 LOS 2030 Projected Existing Roadway Capacity 14,590 F 34,400 10,000 % Change 20052030 135% 5,450 A 7,200 10,000 32% 18,680 18,740 A B 43,200 36,200 31,100 31,100 131% 93% 17,060 12,750 31,380 1,100 A A D 41,100 36,200 62,300 22,000 26,600 31,100 31,100 10,000 141% 184% 99% 1900% 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 Notes: Existing Counts: Alabama Department of Transportation Traffic Count Maps 2005 LOS: Orange Beach Community Preservation and Growth Management Plan (2006) 2030 Project ADT: Baldwin County Comprehensive Plan (2008) Roadway Capacity: Mobile Area Transportation Study Model Capacities by Functional Class 22 23 24 25 26 27 28 29 4.4.1.2 Maximum Boat Slip Alternative The traffic projections illustrated above show that the average daily traffic counts in each location would experience growth. According to Table 53, S.R. 180, West of S.R. 161, could experience the lowest projected percentage change from 2005 to 2030, with 32 percent growth, while C.R. 4 West of S.R. 59 could experience 1900 percent growth. Growth over 100 percent could occur in 5 of the 8 listed locations. Under the No Action Alternative, the roadway improvements proposed in the 2000 Alabama Statewide Long Range Transportation Plan, the City of Orange Beach Community Preservation and Growth Management Plan, and the South Alabama Regional Planning Organization would continue according to funding allocations. If the proposed upland developments are constructed, the impacts would be similar to those listed below in the Maximum Boat Slip Alternative. If the market conditions do not necessitate the need for the number of proposed units or amount of retail space, or these do not become constructed quickly, the roadway infrastructure to be in place would accommodate the anticipated traffic under the No Action Alternative. Direct and Indirect Impacts to Traffic and Transportation Direct impacts to traffic and transportation could occur under the Maximum Boat Slip Alternative. The proposed developments are anticipated to create approximately 16,585 additional condominium units and an estimated 961,500 square feet of additional commercial/retail property. Table 54 illustrates that development of this magnitude would amount to an expected increase of approximately 85,640 vehicles/day. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-10 Draft Environmental Impact Statement 1 Table 54. Summary of Transportation System Impacts Development 47 Canal Place Walker Creek/ Portage Crossing City Orange Beach Orange Beach Commercial/ Retail Area (sq-ft) 0 Avg. Daily Traffic Demand from Com/Retail (vehicles) 0 516 0 2,580 0 0 7,500 7,450 730 0 473 Bayside Harbour Bon Secour Village Eastern Marina Bon Secour Village West Delfino Phase 1 Delfino Phase 2 Harbour Lights KFPH Properties Lawrenz Eastern Marina Lawrenz Western Marina Oyster Bay Marina Summerdance 501 Point West Gulf Shores 1,791 116 Gulf Shores Gulf Shores Gulf Shores Gulf Shores Gulf Shores Gulf Shores Gulf Shores Gulf Shores Gulf Shores Gulf Shores Gulf Shores 0 6,000 724 400 340 72 1,250 288 1,000 3,175 1,137 0 750,000 25,000 30,000 25,000 20,000 70,000 0 7,000 27,000 0 30 20,800 3,450 2,100 1,810 480 5,500 1,580 4,555 12,150 5,065 0 9,488 1,035 1,166 1,035 893 2,025 0 450 1,088 0 Waterways East Gulf Shores 292 0 1,600 0 Gulf Shores Total 14,794 961,500 59,820 17,651 Total 16,585 961,500 67,990 17,651 Orange Beach Total 2 3 4 5 6 7 8 9 10 11 12 Total No. of Condominium Units 1,275 Avg. Daily Traffic Demand from Condominium (vehicles) 5,560 Notes: Source for projected average daily traffic: Institute of Transportation Engineers (2003) Trips projected for Condominium Units Land Use: 230 Residential Condominium/Townhouse, Pg. 366 Equation used: Ln(Trips)= 0.85 Ln(Units) + 2.55 Trips projected for Commercial/Retail Area Land Use: 820 Shopping Center, Pg. 1448 Equation used: Ln(Trips)= 0.65 Ln(1000 Sq. feet gross leasable space) + 5.83 This is discounted by 50% for the internal trips and by 25% for pass by trips. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-11 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 49 50 51 The average daily traffic demand that could be generated from the full build out scenario for the proposed developments is shown in Table 53. These numbers were based on the calculations of average daily traffic demand as outlined in the Institute of Transportation Engineers, Trip Generation Manual (2003). The amount of projected traffic assumes that the all of the condominium units and retail space is fully occupied, immediately. According to the Alabama Gulf Coast Convention & Visitors Bureau’s August 2008 Monthly Economic Update, the annual occupancy rate for condominium units in the area was 57.3% for 2007 and 55.5% for 2008. These annual occupancy rates suggest that the transportation demand under the Maximum Boat Slip Alternative could be less than described below; however, without the ability to predict the occupancy rates in the future, the impacts of the full build out scenario with maximum occupancy rates are analyzed. Table 53 indicates that approximately 22,000 vehicles/day could be generated by the proposed developments on C.R. 4, west of S.R. 59, under a full build out scenario with maximum occupancy rates. For comparison purposes, the capacity of a four lane roadway is 31,100 vehicles/day as calculated by the Mobile Area Transportation Study Model Capacities by Functional Class. The improvement of 5 lanes on C.R. 4, west of S.R. 59, which have been recommended in the Baldwin County Comprehensive Plan (2008), would have the capacity to accommodate an occupancy rate of 75% or less for the proposed developments. Table 53 also indicates that approximately 60,000-80,000 vehicles/day could be generated by the proposed developments at the C.R. 4 and S.R. 59 intersection. A majority of this traffic would be turning south onto S.R. 59 over the S.R. 59 Bridge. This could also increase the traffic on other roadways in the area such as S.R. 180 and S.R. 182. Current and ongoing improvements to roadways in the project area (See Section 3.4.1.4.3) have increased the capacity to accommodate an occupancy rate of 75% or less for the proposed development. This traffic study did not evaluate turning movement counts, seasonal adjustments, or peak hour factors. With the amount of traffic that could be generated by the development, a more detailed study of the S.R. 4 and S.R. 59 intersection may be necessary. Hurricane Evacuation Impact Analysis A hurricane evacuation impact analysis has been prepared to evaluate the impacts the proposed developments could have on the evacuation of southern Baldwin County during an approaching hurricane. The full study can be found in Appendix T. Traffic congestion and clearance times were predicted for various hurricane threat scenarios involving Baldwin and Mobile Counties, as well as the western Florida panhandle. To update the existing hurricane evacuation transportation analysis, the proposed developments’ dwelling unit figures and evacuation zone location were included in the analysis. All the proposed developments fall within the Category 3 hurricane evacuation zone, with 14 of the 16 developments in the Gulf Shores north/Bon Secour evacuation subzone. Two developments, 47 Canal Place and Walker Creek, fall within the Wolf Bay east evacuation subzone. Previous hurricane evacuation assessments have shown that the majority of tourists will evacuate a potential hurricane-impacted area before an official evacuation being ordered. Without the proposed developments, up to 225,000 people, including permanent residents and a high tourist population, would evacuate the southern Baldwin County area in a worst-case Category 5 hurricane scenario. Once the proposed developments are constructed, the evacuating population increases to 283,000, and public shelter demand would increase from 17,500 to 19,800 evacuees. Evacuation behavioral parameters developed in the USACE Hurricane Evacuation Study and socioeconomic data were used to estimate evacuating vehicle volumes for key roadway segments with and without the proposed developments. Behavioral parameters include evacuation participation rates, Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-12 Draft Environmental Impact Statement 1 2 3 4 5 6 7 destination percentages, and vehicle usage rates. With the exception of 47 Canal Place and Walker Creek, permanent residents and tourists at the proposed developments would use S.R. 59 as the primary evacuation route (Figure 29). Residents and tourists at 47 Canal Place and Walker Creek would use the Foley Beach Expressway or S.R. 180 as the primary evacuation route. The S.R. 59 evacuation route is impacted to a greater degree by each increase in storm intensity because of more south Baldwin County residents being asked to evacuate. The greatest impacts to evacuation routes and timing would be for Category 3, 4, and 5 hurricanes. 8 9 10 11 12 13 14 4.4.1.3 Minimum Boat Slip Alternative 15 4.4.2 16 4.4.2.1 Water Supply 17 18 19 20 21 22 23 4.4.2.1.1 No Action Alternative Direct and Indirect Impacts to Water Supply If the proposed upland developments are constructed, the impacts would be similar to those listed below in the Maximum Boat Slip Alternative. If the market conditions do not necessitate the need for the number of proposed units or amount of retail space, or these do not become constructed quickly, the water supply infrastructure to be in place could accommodate the anticipated demands under the No Action Alternative. 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 4.4.2.1.2 Direct and Indirect Impacts to Traffic and Transportation The impacts under the Minimum Boat Slip Alternative would be similar to the described in the Maximum Boat Slip Alternative; however, the impacts experienced under this alternative would increase proportional to the phased development. If the market conditions do not necessitate the need for the number of proposed units or amount of retail space, or these do not become constructed quickly, the roadway infrastructure to be in place would accommodate the increase in traffic. Utilities Maximum Boat Slip Alternative Direct and Indirect Impacts to the Gulf Shores Water Supply Direct impacts to the Gulf Shores water supply could occur under the Maximum Boat Slip Alternative. A total of 13 of the 15 proposed developments are located within the limits of the City of Gulf Shores. These developments would create approximately 14,794 additional condominium units and an estimated 961,500 square feet of additional commercial/retail property. Table 55 illustrates that development of this magnitude would amount to an expected increase of approximately 4.4 MGD (average daily residential/commercial water demand not including fire flow) of potable water demand on the Gulf Shores Water System. This increase in potable water demand is representative of maximum condominium capacity and a full build out scenario of the upland developments, which would be considered peak capacity. It is not reflective of seasonal variations of higher flows expected in summer months during the peak tourist season versus lower flows in winter months. Given the current operating capacity of 5.4 MGD, which is 79% of the available capacity, the Maximum Boat Slip Alternative would require an increase in water utilities during build-out to address the projected demands. Gulf Shores Utilities currently does not have plans to expand existing water treatment plants in the near future, although the utility continually evaluates proposed developments to determine if an expansion of the water system is needed to accommodate growth. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-13 Draft Environmental Impact Statement 1 Table 55. Summary of Water System Impacts Development 47 Canal Place Walker Creek/ Portage Crossing City Orange Beach Orange Beach Total No. of Condominium Units Commercial/ Retail Area (sq-ft) Approx. Equivalent Residential Unit (ERU)/ Equivalent Residential Connection (ERC) 1,275 0 1,062 371,726 516 0 430 150,440 Approx. Anticipated Potable Water Demand (gal) 1,791 0 1,492 522,166 Bayside Harbour Bon Secour Village Eastern Marina Bon Secour Village West Delfino Phase 1 Delfino Phase 2 Harbour Lights KFPH Properties Lawrenz Eastern Marina Lawrenz Western Marina Oyster Bay Marina Summerdance 501 Point West Gulf Shores 116 7,500 99 34,697 Gulf Shores Gulf Shores Gulf Shores Gulf Shores Gulf Shores Gulf Shores Gulf Shores Gulf Shores Gulf Shores Gulf Shores Gulf Shores 0 6,000 724 400 340 72 1,250 288 1,000 3,175 1,137 0 750,000 25,000 30,000 25,000 20,000 70,000 0 7,000 27,000 0 0 5,249 611 343 292 67 1,065 240 835 2,654 947 0 1,836,975 214,005 120,127 102,050 23,330 372,621 83,966 292,368 928,828 331,492 Waterways East Gulf Shores 292 0 243 85,133 Gulf Shores Total 14,794 961,500 12,645 4,425,590 Overall Total 16,585 961,500 14,137 4,947,756 Orange Beach Total 2 3 4 5 6 7 8 9 10 11 12 Notes: ERU/ERC Factor per Multifamily – 2 Bedroom Condo Unit: 0.833 ERU/ERC Factor per 1,000-sf Commercial Area: 0.334 Anticipated Demand calculated using 350-gallons per ERU/ERC 13 14 15 16 17 18 19 4.4.2.1.3 Direct and Indirect Impacts to the City of Orange Beach Water Supply Direct impacts to the Orange Beach water supply could occur under the Maximum Boat Slip Alternative. Two of the 15 proposed developments are located within the limits of the City of Orange Beach. These developments would create approximately 1,791 additional condominium units. Table 55 illustrates that development of this magnitude would amount to an expected increase of approximately 0.5 MGD of potable water demand (average daily residential/commercial water demand not including fire flow) on the Orange Beach Water System. Minimum Boast Slip Alternative Direct and Indirect Impacts to Water Supply The impacts under the Minimum Boat Slip Alternative would be similar to the impacts described in the Maximum Boat Slip Alternative; however, the impacts experienced under this alternative would increase proportional to the phased development. If the market conditions do not necessitate the need for the number of proposed units or amount of retail space, or these do not become constructed quickly, the water supply infrastructure in place would accommodate the demand. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-14 Draft Environmental Impact Statement 1 4.4.2.2 2 3 4 5 6 7 8 4.4.2.2.1 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 4.4.2.2.2 Wastewater NO ACTION ALTERNATIVE Direct and Indirect Impacts to Wastewater If the proposed upland developments are constructed, the impacts would be similar to the impacts listed below in the Maximum Boat Slip Alternative. If the market conditions do not necessitate the need for the number of proposed units or amount of retail space, or these do not become constructed quickly, the wastewater infrastructure to be in place could accommodate the anticipated demands under the No Action Alternative. MAXIMUM BOAT SLIP ALTERNATIVE Direct and Indirect Impacts to Gulf Shores Wastewater Direct impacts to the Gulf Shores wastewater system could occur under the Maximum Boat Slip Alternative. Under this alternative, the proposed upland developments are anticipated to create approximately 14,794 additional condominium units and an estimated 961,500 square feet of additional commercial/retail property. Development of this magnitude would amount to an expected increase of approximately 4.3 MGD of wastewater demand, with an estimated 3.8 MGD within the City Limits of Gulf Shores as shown in Table 56.11 Additional capacity separate from the residential units would be necessary to accommodate the wastewater generated from facilities on board vessels at the marinas. The amount of additional wastewater is directly dependent on the size of the vessels and their use. The Gulf Shores Wastewater Reclamation Facility has a current system capacity of 4 MGD and is operating at 50% capacity. Additional capacity is available and plans are in place to upgrade to 6 MGD. The Gulf Shores wastewater treatment plant discharges treated effluent into the GIWW, and an increase of the wastewater influent flows could potentially require modifications on the conditions of the plant’s wastewater permits. Direct and Indirect Impacts to Orange Beach Wastewater Direct impacts to the Orange Beach wastewater system could occur under the Maximum Boat Slip Alternative. Development of this magnitude would amount to an expected increase of approximately 4.3 MGD of wastewater demand, with an estimated 0.5 MGD within the City limits of Orange Beach as shown above in Table 56. Additional capacity separate from the residential units would be necessary to accommodate the wastewater generated from facilities on board vessels at the marinas. The amount of additional wastewater is directly dependent on the size of the vessels and their use. The City of Orange Beach Wastewater Treatment Plant has a capacity of 5 MGD and a new wastewater treatment plant is expected to start operations by spring 2010. The wastewater treatment plant discharges treated effluent into the FLC, and an increase of the wastewater influent flows could potentially require modifications on the conditions of the plant’s wastewater permits. 11 Wastewater demands for the proposed developments are based on industry standards in southeast part of the Country. An Equivalent Residential Unit (ERU) is equivalent to 300 gallons of wastewater. A typical ERU for a 2 bedroom condominium is 0.833. The typical number of ERUs for commercial land use is 0.334. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-15 Draft Environmental Impact Statement 1 Table 56. Summary of Wastewater System Impacts Total No. of Condominium Units 1,275 Commercial/ Retail Area (sq-ft) 0 Approx. ERU/ ERC 1,062 Approx. Anticipated Potable Water Demand (gal) 318,623 Orange Beach 516 1,791 0 0 430 1.492 128,948 447,571 Gulf Shores Gulf Shores 1,137 116 0 7,500 947 99 284,136 29,740 Gulf Shores 0 0 0 0 Gulf Shores Gulf Shores Gulf Shores Gulf Shores Gulf Shores 6,000 724 400 340 72 750,000 25,000 30,000 25,000 20,000 5,249 611 343 292 67 1,574,550 183,433 102,966 87,471 19,997 Gulf Shores 1,250 70,000 1,065 319,389 Gulf Shores Gulf Shores Gulf Shores 288 1,000 3,175 0 7,000 27,000 240 835 2,654 71,971 250,601 796,138 Gulf Shores 292 0 243 72,971 Gulf Shores Total 14,794 961,500 12,645 3,793,363 Overall Total 16,585 961,500 14,137 4,240,934 Development 47 Canal Place Walker Creek/ Portage Crossing City Orange Beach Orange Beach Total 501 Point West Bayside Harbour Bon Secour Village Eastern Marina Bon Secour Village West Delfino Phase 1 Delfino Phase 2 Harbour Lights KFPH Properties Lawrenz Eastern Marina Lawrenz Western Marina Oyster Bay Marina Summerdance Waterways East 2 3 4 5 Notes: ERU/ERC Factor per Multifamily – 2 Bedroom Condo Unit: 0.833 ERU/ERC Factor per 1,000-sf Commercial Area: 0.334 Anticipated Demand calculated using 300-gallons per ERU/ERC 6 7 8 9 10 11 12 4.4.2.2.3 13 4.4.2.3 Stormwater 14 15 16 17 18 4.4.2.3.1 Minimum Boat Slip Alternative Direct and Indirect Impacts to Wastewater The impacts under the Minimum Boat Slip Alternative would be similar to the impacts described in the Maximum Boat Slip Alternative; however, the impacts experienced under this alternative would increase proportional to the phased development. If the market conditions do not necessitate the need for the number of proposed units or amount of retail space, or these do not become constructed quickly, the wastewater infrastructure in place would accommodate the demand. No Action Alternative Negligible impacts from stormwater could be expected under the No Action Alternative. If the upland developments are constructed, the impacts would be similar to the impacts listed below in the Maximum Boat Slip Alternative. Development under the No Action Alternative would be at a more modest scale because the boat slips themselves would not be constructed, and because the lack of boat slips could Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-16 Draft Environmental Impact Statement 1 2 3 4 5 6 affect the decision to build out this area, reducing the amount of development of the upland waterfront property. Each of the proposed upland developments would be required to meet the minimum treatment volume of 0.5-inches over the project site as required by ADEM. Also, developments would have to fulfill the current state standard for pollutant removal. The City of Orange Beach Stormwater regulations are more stringent than ADEM regulation. Therefore, the proposed developments within this jurisdiction would be less likely to discharge high concentrations of water soluble organics. 7 8 9 10 11 12 13 14 15 4.4.2.3.2 16 17 18 19 20 4.4.2.3.3 21 4.4.2.4 Solid Waste 22 23 24 25 26 27 4.4.2.4.1 28 29 30 31 32 33 34 35 36 37 38 4.4.2.4.2 Maximum Boat Slip Alternative Direct and Indirect Impacts to Wastewater Negligible impacts from stormwater could be expected under the Maximum Boat Slip Alternative. Water quality impacts are the primary concern for stormwater discharges into the FLC. Each of the developments would be required to meet the minimum treatment volume of 0.5-inches over the project site as required by ADEM. Also, developments would have to fulfill the current state standard for pollutant removal. The City of Orange Beach Stormwater regulations are more stringent than ADEM. Therefore, the proposed developments within this jurisdiction would be less likely to discharge high concentrations of water soluble organics. Minimum Boat Slip Alternative Direct and Indirect Impacts to Wastewater The impacts under the Minimum Boat Slip Alternative would be similar to the impacts described in the Maximum Boat Slip Alternative; however, the impacts under this alternative would increase proportional to the phased development. No Action Alternative Direct and Indirect Impacts to Solid Waste If the upland developments are constructed, the impacts would be similar to the impacts listed below in the Maximum Boat Slip Alternative. If the market conditions do not necessitate the need for the number of proposed units or amount of retail space, or these do not become constructed quickly, the capacity of the landfill could accommodate the anticipated demands under the No Action Alternative. Maximum Boat Slip Alternative Direct and Indirect Impacts to Solid Waste Solid waste generated by the proposed developments would be disposed of in the Magnolia Landfill. An average solid waste production per person per day of 6.3 pounds has been used to calculate the approximate anticipated solid waste pounds/day for the proposed developments presented in Table 57. Table 57 illustrates that development of this magnitude would amount to an expected increase of approximately 261,214 lbs/day, or 130 tons/day. Magnolia Landfill is currently permitted for a volume of 350 tons per day but an application has been submitted to increase the permitted volume to 900 tons/day. The increase of solid waste generated by the proposed developments would be within the expanded capacity of the landfill. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-17 Draft Environmental Impact Statement 1 Table 57. Summary of Solid Waste Collection and Disposal Impacts Development 47 Canal Place Walker Creek/ Portage Crossing Approx. Anticipated Solid Waste (lbs/day) 20,081 City Orange Beach Total No. of Condominium Units 1,275 Waste Generation Rate (per person) 6.3 Orange Beach 516 6.3 8,127 28,208 Orange Beach Total 501 Point West Bayside Harbour Bon Secour Village Eastern Marina Bon Secour Village West Delfino Phase 1 Delfino Phase 2 Harbour Lights KFPH Properties Lawrenz Eastern Marina Lawrenz Western Marina Oyster Bay Marina Summerdance Gulf Shores Gulf Shores 1,137 116 6.3 6.3 17,908 1,827 Gulf Shores Gulf Shores Gulf Shores Gulf Shores Gulf Shores Gulf Shores Gulf Shores Gulf Shores Gulf Shores Gulf Shores 0 6,000 724 400 340 72 1,250 288 1,000 3,175 6.3 6.3 6.3 6.3 6.3 6.3 6.3 6.3 6.3 6.3 0 94,500 11,403 6,300 5,355 1,134 19,688 4,536 15,750 50,006 Waterways East Gulf Shores 292 6.3 4,599 Gulf Shores Total 233,006 Total 261,214 2 3 Notes: Waste Generation Rates based on actual for Orange Beach Condominium units assumed to house an average of 2.5 people 4 5 6 7 8 4.4.2.4.3 9 4.4.2.5 Hazardous Waste Minimum Boat Slip Alternative Direct and Indirect Impacts to Solid Waster The impacts under the Minimum Boat Slip Alternative would be similar to the impacts described in the Maximum Boat Slip Alternative; however, the impacts experienced under this alternative would increase proportional to the phased development. 10 11 12 13 4.4.2.5.1 14 15 16 17 18 4.4.2.5.2 No Action Alternative Direct and Indirect Impacts to Hazardous Waste As discussed in Section 3.11, there are currently no hazardous waste facilities in the area. Therefore, there are no anticipated impacts for hazardous materials. Maximum Boat Slip Alternative Direct and Indirect Impacts to Hazardous Waste Direct and indirect impacts to hazardous waste would be similar as the impacts discussed under the No Action Alternative. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-18 Draft Environmental Impact Statement 1 2 3 4 4.4.2.5.3 5 4.4.2.6 Electrical Power Minimum Boat Slip Alternative Direct and Indirect Impacts to Hazardous Waste Direct and indirect impacts to hazardous waste would be similar as the impacts discussed under the No Action Alternative. 6 7 8 9 10 11 12 4.4.2.6.1 13 14 15 16 17 18 19 20 21 22 23 24 25 4.4.2.6.2 26 27 28 29 4.4.2.6.3 30 4.4.2.7 Natural Gas 31 32 33 34 35 4.4.2.7.1 36 37 38 39 40 4.4.2.7.2 No Action Alternative Direct and Indirect Impacts to Electrical Power If the upland developments are constructed, the impacts would be similar to the impacts discussed below in the Maximum Boat Slip Alternative. If the market conditions do not necessitate the need for the number of proposed units or amount of retail space, or these do not become constructed quickly, the electrical power infrastructure to be in place could accommodate the anticipated demands under the No Action Alternative. Maximum Boat Slip Alternative Direct and Indirect Impacts to Electrical Power Electrical power is available along most roads in the area of the proposed developments. All new electrical facilities would need to be underground per city ordinances. Any line extensions (including upgrades to the lines needed to provide power) would be installed at full cost to the developer, excluding transformer and meter costs. The capacity impact is not anticipated to be a concern for the electric provider, as a new substation is currently planned in the vicinity of the project area. Power Source recently increased the price of the agreement with Baldwin EMC by six percent. This translated, largely due to a restructuring of cost sharing with developers, to a rate increase of four percent for the customers of Baldwin EMC. Another rate increase is expected in early 2009; however, the current instability of the energy market could postpone the increase. The addition of the proposed developments to the grid would not impact the rate of Power Source customers. Minimum Boat Slip Alternative Direct and Indirect Impacts to Electrical Power Direct and indirect impacts to electrical power would be similar as the impacts discussed under the Maximum Boat Slip Alternative. No Action Alternative Direct and Indirect Impacts to Natural Gas At this stage of the proposed developments it is difficult to define the impacts on the natural gas utilities. If natural gas would be used in the proposed developments, the natural gas providers would have to modify their current infrastructure to accommodate natural gas needs for the proposed developments. Maximum Boat Slip Alternative Direct and Indirect Impacts to Natural Gas Direct and indirect impacts to natural gas would be similar as the impacts discussed under the No Action Alternative. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-19 Draft Environmental Impact Statement 1 2 3 4 5 4.4.2.7.3 6 4.5 SOCIEOECONOMICS Minimum Boat Slip Alternative Direct and Indirect Impacts to Natural Gas Direct and indirect impacts to natural gas would be similar as the impacts discussed under the No Action Alternative. 7 8 9 10 11 12 13 14 4.5.1 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 4.5.2 No Action Alternative Direct and Indirect Impacts to Socioeconomics Short-term adverse and long-term beneficial indirect impacts could occur under the No Action Alternative. If the upland development does occur, the impacts would be similar to the impacts listed below in the Maximum Boat Slip Alternative. Growth under the No Action Alternative would be largely beneficial to the economy; however, short-term labor and housing shortages could result if expansion occurs in too short a time frame or if increases in infrastructure and investment lag behind employment and population growth. Maximum Boat Slip Alternative Direct Impacts to Socioeconomics Direct impacts would not be expected. Under this alternative, the USACE would approve permits for up to 3,093 boat slips on the FLC through the year 2025. The action of approving a permit would not impact the regional economy. The subsequent, indirect action of the applicant receiving the permit to then build a boat slip would affect the economy. Indirect Impacts to Socioeconomics Short-term adverse and long-term beneficial indirect impacts would be expected. With the receipt of the permits, private developers would construct 15 developments along the FLC. The marina facilities would complement proposed on-site mixed-use resort communities. The proposed communities would serve the needs and desires of permanent residents and second-home buyers and vacationers looking for affordable coastal communities. The proposed alternative action is needed to meet market demand of residential property owners along the FLC for wet and dry storage of watercraft and for convenient and safe waterway access for recreational pursuits. The marinas and resorts would be constructed over a number of years. Under the Maximum Boat Slip Alternative, the USACE would approve permits for up to 3,093 boat slips on the FLC through the year 2025. The completed resorts would encompass the following components: marinas with wet boat slips and dry boat storage spaces; residential development of more than 16,700 condominiums and some single-family homes, apartments, and townhomes; various retail and commercial establishments; and recreational amenities such as swimming pools, spas, tennis courts, parks, and boardwalks. Each of these components would require significant capital and human resources to build and maintain over the lifetime of the project, generating large socioeconomic impacts on the region. The following sections describe the indirect impacts of the Maximum Boat Slip Alternative on the ROI socioeconomic conditions. The socioeconomic analysis is done in a qualitative manner, as opposed to quantitative, because preliminary project cost data, build out schedules, facility specific information, and occupancy estimates for the proposed resorts are not available. Such data is subject to change on the basis of market conditions and as architectural designs evolve, making preliminary data very speculative. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-20 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 49 50 51 Population. Long-term beneficial impacts on population would be expected under this alternative. The proposed developments would contribute to the projected strong population growth in Baldwin County, especially along the county’s coastal area. Beneficial impacts would be realized through an enhanced tax base and increased revenues for expansion of community infrastructure and public services. Population would be affected by several factors: construction of the proposed facilities, operation of the proposed facilities, and the occupation of the new residences. The build out of the 15 developments would attract construction workers to the ROI. As the projects near completion, retail and service personnel would be in demand to operate the resorts and associated businesses. Workers could commute to job sites from surrounding towns and counties. However, given that build-out would occur through 2025, and that operation of the marinas and resorts would provide part- and full-time permanent employment, workers might choose to move to Baldwin County. Although some positions would be filled by current residents, the job opportunities would attract permanent and seasonal residents (for example, the peak season attracts college students looking for summer work). The occupation of the resort condominiums would impact ROI population. Some of these residences would be occupied by current Baldwin County residents, which would not affect population. Other housing units would be filled by non-resident workers. However, the primary target market would be current residents looking for waterfront property and non-residents from outside the region looking to establish a new permanent residence or looking to purchase a second/investment home for seasonal use. The ROI population has grown on average 3 percent per year between 2000 and 2007. The U.S. Census Bureau, in cooperation with the University of Alabama’s Center for Business and Economic Research, projected the ROI population to be about 248,400 by 2025, which would be a 45 percent increase from 2007 (USBC and UA 2001a). The majority of this population growth would occur in southern Baldwin County and the county’s eastern shore region. The ROI has a higher proportion of older residents, with a median age of 39. The ROI’s 65 and over population represented 15 percent of the total population in 2000. Compared to other counties throughout the nation, this represents a medium-high percent of the population. Baldwin County’s estimated median age is projected to increase to 42 years of age by 2012 (EDIS 2007). By 2025, the senior population is forecast to account for 24 percent of the county’s population (USBC and UA 2001b). This indicates that the trend of in-migrating permanent-population retirees is expected to continue to this region of the Gulf Coast. Employment. Short-term adverse and long-term beneficial impacts to employment would be expected under this alternative. The ROI has experienced strong growth in the construction, retail, and services industry sectors (see Section 3.5.2), and the proposed marinas and large-scale resort development project would continue to support that growth. As of 2006, there were about 9,200 people in the ROI employed in the construction industry. The retail and service sectors employed more than 40,000 people. However, assuming there would be overlap of the build out of the 15 development projects, it is possible there could be short-term labor supply shortages. Construction and operation of the facilities would require skilled and unskilled labor. The types of construction jobs that would be created include construction site managers, carpenters, heavy equipment operators, electricians, painters, plumbers, masons, and a variety of other trades. Resort operation jobs would include property managers, reservation clerks, housekeeping, building engineers, restaurant managers, cooks, wait staff, retail management and sales staff, bankers, administrative professionals, and other such retail and commercial occupations. Short-term labor shortages could result if infrastructure investment, such as housing, lagged behind employment demand and population growth. Workers would be attracted from the surrounding region, either migrating in to Baldwin County and becoming permanent residents, or commuting from their home outside of the county. With the exception of Mobile County, all other counties bordering Baldwin County (Clarke, Escambia, Monroe, and Washington) had unemployment rates higher than the national average and could provide a source for a commuting labor pool. In addition, the Gulf Coast typically sees an influx of Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-21 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 49 50 51 college students during the peak summer season. The new resorts would provide additional jobs for students. In the long-term, the proposed marina and resort developments would contribute to the continuation of the region’s strong employment growth and low unemployment. New jobs indirectly created by this alternative would be in the construction, retail, and services industries, where Baldwin County has already experienced accelerated growth, in large part due to resort development along the Gulf Coast. This trend would be expected to continue. The jobs directly created by construction and operation of the resorts would create indirect jobs through the purchase of materials and supplies from other businesses, and induced jobs through the expenditure of the salaries of these personnel for goods and services. As of 2007, Baldwin County accounted for a quarter of the state’s travel-generated employment. The Alabama Tourism Department calculated that for every $80,872 of expenditures in the travel industry, one direct job is created; for every two direct jobs created, the Alabama economy indirectly creates one additional job (Alabama Tourism Department 2008). Income. Long-term beneficial impacts to income would be expected. Construction and operation of the marinas and resorts would increase earnings in the ROI through expenditures by businesses for materials and supplies, and through employees spending their salaries on goods and services. Construction and operation of the marinas and resorts would also generate tax revenues. During the construction phase, the majority of taxes would be payroll taxes, which would be transferred to the federal government and would not affect local government revenues. However, revenues from sales taxes, property taxes, lodging taxes, and other fees such as marina mooring fees, would accrue to the state and local governments, providing revenues for public services. The Alabama Tourism Department calculated that for every $1 in travel-related spending, workers in Alabama earn 40 cents, state government collects 5 cents, and local governments collect 2 cents. In 2007, Baldwin County earned $908 million from travel related expenditures, a 12 percent increase over 2006. The county collected $11.2 million from state lodging tax, an almost $1.6 million (16 percent) increase from 2006 (Alabama Tourism Department 2008). It is anticipated that the 15 proposed resort developments would increase these earnings. Housing. Short-term adverse and long-term beneficial impacts would be expected. Long-term beneficial impacts would occur because of the construction of the new housing. The proposed alternative action is needed to meet market demand of residential property owners along the FLC for wet and dry storage of watercraft and for convenient and safe waterway access for recreational pursuits. The resorts would provide a supply of housing and boat slips to meet the market demand for resort locations to serve the needs and desires of non-residents looking for a waterfront location (such as retirees), second-home buyers, and vacationers looking for affordable coastal communities. Market conditions would dictate the type and price of housing units built in the resorts by developers. Short-term adverse impacts could occur in terms of lack of housing supply and housing cost. Baldwin County identified a lack of affordable housing for the area’s workforce. Increases in housing cost, land cost, and increase in demand for housing due to population growth contribute to an affordable housing problem. Over time, this problem would be attenuated, as the housing market would likely adjust by increasing supply to meet the additional demand. The county has already taken action to address this issue. The Baldwin Housing Authority was established in February 2008, with a mission to fast track permitting to help developers of affordable housing and to look at the overlay of districts and help with planning and zoning ideas. The Baldwin Housing Authority would partner with other interested organizations to increase affordable housing opportunities and promote affordable housing resources to existing businesses (Ferniany 2008; BCEDA 2008). Quality of Life. Overall, beneficial impacts would be expected on quality of life. As noted earlier, because expansion of the industry base would confer economic benefits on the region, the primary social Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-22 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 49 50 concerns would materialize in the form of labor, housing, and public services shortages if expansion occurs in a short time frame, or if other aspects of the economy also undergo a rapid expansion during the development period. By having a development plan in place, regional planners would be better able to assess public service impacts in the context of the overall economic status of the region. Forecasted population growth would provide data for planners to estimate the need for public services such as schools, emergency responders, and healthcare facilities to maintain acceptable service levels to the public. Government revenues would increase through various tax sources, including property and sales taxes. The region’s ability to absorb the expanded population and maintain levels of service would depend on how additional revenues are allocated and the cooperation among the developers, the local economic development authority, and local government to plan for continued increase in residential and tourist population over the build-out period. The following paragraphs identify the anticipated impacts for each of the key components of quality of life. Schools. Short-term adverse impacts could occur. The majority (58 percent) of the proposed housing units would be seasonal units for tourists and temporary residents (“snow birds”) and the remaining units (42 percent) would be for permanent residents. It is anticipated that a portion of the permanent residences would be filled by persons already residing in the region, which would not change local population or school enrollment. It is also anticipated that, following recent demographic trends, a portion of the permanent residences would be occupied by retirees. These factors indicate that many of the housing units would not be occupied by school-age children of permanent residence. However, in-migrating workforce would contribute to school enrollments. Short-term adverse impacts could occur in terms of inadequate school facilities and personnel if the school system is overburdened by population increases. On the basis of forecasted population growth, the county’s annual enrollment projections indicate an increase in public school enrollment. The resort developers anticipate the possible need for additional schools and incorporate that need into the development plans. To meet anticipated overall county population growth, Baldwin County is developing an infrastructure assessment for public services, including schools (Baldwin County 2006). Anticipating and planning for future demand on school facilities would minimize the impact on public schools, giving the county time to prepare for future enrollment by increasing the number of schools and the number of teachers. The increased population would provide an enhanced tax base and increased revenues for expansion of public school services. Public Safety and Healthcare. Short-term adverse impacts could occur. To accommodate future population levels, police, fire, and medical services would need to expand to meet expected demand. Population growth would create the need for additional police, fire, and emergency paramedic staff and equipment and healthcare facilities. Short-term adverse impacts could occur if expansion of public services does not keep pace with population. The resort developers and Baldwin County have anticipated the need for these services. Developers have incorporated that need into their development plans for additional police and fire precincts. These precincts would need to be located in close proximity to the FLC to maintain required emergency response times to the new developments. To keep pace with population growth and plan for future public safety needs, Baldwin County is developing an infrastructure assessment for police, fire, and healthcare services (Baldwin County 2006). The increased population would provide an enhanced tax base and increased revenues for expansion of public services. Environmental Justice. No impacts would be expected. Implementing this alternative would not result in disproportionate adverse environmental or health impacts on low-income or minority populations. Minority populations would be identified where either the minority population of the affected area exceeds 50 percent or the minority population percentage of the affected area is meaningfully greater than the minority population percentage in the general population or other appropriate unit of geographic analysis (CEQ 1997). Poverty thresholds as established by the Census Bureau were used to identify lowincome populations (see Section 3.5.6). The ROI does not exceed these thresholds; therefore, no impacts Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-23 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 would be expected. Construction of housing and retail and commercial facilities would not adversely affect such populations, and could benefit persons by providing jobs. 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 4.5.3 Protection of Children. Short-term minor adverse impacts on the protection of children would be expected. Because construction sites can be enticing to children, construction activity could pose an increased safety risk. During construction, the safety measures stated in 29 CFR Part 1926, Safety and Health Regulations for Construction, would be followed to protect the health and safety of nearby residents and construction workers. It is recommended that barriers and “No Trespassing” signs be placed around construction sites to deter children from playing in these areas and that construction vehicles and equipment be secured when not in use. No impacts would be expected from hazardous or toxic substances, such as lead-based paint or asbestos containing material. Such materials were widely used in the building products industry and for housing maintenance for many years. New construction would not use building products containing hazardous materials. To protect the health, safety, and welfare of the citizens in Baldwin County, the county requires all construction (new construction, additions to existing structures, and remodeling) to meet specific building codes, including the International Building Code, International Residential Code, and the Baldwin County Supplemental Code for Residential Building (Baldwin County Commission 2008). Minimum Boat Slip Alternative Direct Impacts to Socioeconomics Direct impacts would not be expected. Under this alternative, the USACE would initially approve permits for 1,943 boat slips, with the option of phasing-in 1,150 additional boat slips until the maximum number of slips (3,093) is reached. The action of approving a permit would not impact the regional economy. The subsequent, indirect action of the person receiving the permit to then build a boat slip would affect the economy. Indirect Impacts to Socioeconomics Similar impacts as those listed under the Maximum Boat Slip Alternative would be expected, though possibly at a more modest scale. Because the USACE would initially only permit a portion of the boat slips through 2011, growth would be limited in the initial years. Subsequent growth in the outlying years would depend on whether the USACE phases in the additional boat slip permits. Whether the permits would be held at 1,943 or maximized out to 3,093, the development would result in long-term socioeconomic beneficial impacts, with possible short-term adverse impacts. Growth would be largely beneficial to the economy; however, short-term labor and housing shortages could result if expansion occurs in too short a time frame or if increases in infrastructure and investment lag behind employment and population growth. These problems would be less likely under this growth alternative, where development along the FLC would be limited. 39 4.6 RECREATIONAL RESOURCES 40 41 42 43 44 45 46 47 4.6.1 No Action Alternative Direct and Indirect Impacts to Recreational Resources Recreational resources would experience direct and indirect long-term impacts by implementing the No Action Alternative. The number of people in the area seeking to participate in recreational activities would be expected to increase proportionally with changes in population. The WCS predicts that the number of summer visitors per month in Baldwin County would exceed 500,000 by the year 2025 (Taylor Engineering 2006). The types of recreational opportunities in the area would be similar as described in Section 3.6, but it could be expected that the number of recreational opportunities would increase in order Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-24 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 to meet the demand of an increase in tourists and permanent residents. As an example, additional golf courses could be constructed in the area to meet the increase in golfing demand. It is anticipated that the projected increase in volume of recreational waterway traffic would be similar to those outlined in Section 4.0 of the WCS (Projected Waterway Conditions). The WCS estimates that there would be a 114 percent increase in volume by the year 2025. The increase in number of vessels was calculated as 54, an increase from 47 in 2006 to 101 in 2025. This equals an increase of approximately 4 percent per year. The increase in commercial traffic was estimated as one half percent to one percent per year. With the increase in recreational and commercial boat traffic on the FLC, there could be an increase in the potential for accidents as the waterway becomes more congested. The mitigation measures currently proposed by the cities of Gulf Shores and Orange Beach, to initiate the presence of marine police and expand boater safety courses, could help mitigate any significant adverse impacts. 4.6.2 Maximum Boat Slip Alternative Direct Impacts to Recreational Resources Construction of additional boat slips on the FLC would result in a long-term direct impact to boating access. Currently there is one public boat ramp, four marinas and boat storage facilities, and approximately 35 private docks and piers on the FLC. Under this alternative, the developments would add 3,093 wet and dry boat slips and 17 marinas with access points to the FLC. This would result in a significant long-term increase in the number of boats that have direct access to the FLC and the number of boaters on the waterway. It is assumed that the marinas and boat slips at each development would be available only to those who are residents or guests of that development, and not to the general public. Along with increased boater access, the number of recreational facilities in the area would be expected to increase due to construction of the proposed developments. Many of the developments include green space to provide parks, lakes and ponds, boardwalks, and walking paths to their guests. Other recreational facilities and opportunities associated with the developments include swimming pools, tennis courts, clubhouses, retail centers, spas, restaurants, and yacht clubs. A long-term direct impact to the overall safety of boaters in the area could result from the increase in boater access points on the FLC. The newly constructed boat slips, and associated increase in traffic, would require developers to find mitigating measures to allow for the increase in boat traffic without reducing boater safety on the FLC. The “Draft Mitigating Plan for Water Capacity Study Foley Land Cut of the GIWW between Mobile and Wolf Bay” is a plan developed in response to the WCS. This plan has been developed on behalf of the 17 proposed marinas located on the FLC and proposes Management Options that mitigate the reduction factors and increase the future waterway capacity along the FLC. Reduction factor values were assigned to various safety issues, and the values given are a numerical representation of reduction in safety on the FLC for reach issue. Safety issues include: Commercial Vessels, Uneducated Boaters, Non-Local Operators, Waterway Access Locations, Excessive Vessel Speed, Traffic Levels, and Personal Watercraft. Management options were developed for each of the issues in order to decrease the impact that safety concerns could pose on the FLC. Application of these management options, in turn, decreased the reduction factor values for each safety issue. The Management Options for each safety issue is discussed in Appendix R. Table 58 (also Table 10.2 in the Appendix R) presents calculated impacts of the Management Options in relation to reduction factors. Along with the reduction factors, the Alabama Marine Resources would construct additional boat slips on the FLC to patrol the waterway daily, and have jurisdictional capability to enforce local and state laws on the water. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-25 Draft Environmental Impact Statement 1 2 Table 58. Calculations of Recommended Capacity with Construction of 16 Proposed Marinas and Implementation of Management Plan Navigation Concern Commercial Vessels Uneducated Boaters Non-Local Operators Waterway Access Locations Excessive Vessel Speed Traffic levels Personal Watercraft Sum of Factors Reduction Factor Potential Decrease in Reduction Factor Updated Reduction Factor 0.125 0.150 0.100 0.178 0.125 0.125 0.050 0.853 0.0050 0.0155 0.0075 0.0040 0.0120 ------0.0050 0.0490 0.1200 0.1345 0.0925 0.1740 0.1130 0.1250 0.0450 0.8040 Waterway Capacity Considerations Hypothetical Maximum Capacity Recommended Capacity for Commercial Navigation Concerns 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 Vessels at one time on the FLC 1,296 191 1,296 ---- 1,296 254 Source: Taylor Engineering 2006 Indirect Impacts to Recreational Resources Other recreational opportunities associated with water resources would also experience long-term indirect impacts from the increased numbers of tourists and permanent residents brought to the area by the developments. The charter fishing industry would see an increase in business resulting from the developments bringing more tourists to the area. The many charter services around the FLC and surrounding areas offer a variety of fishing opportunities to the newly arriving customers of the developments. The guests could book fishing trips offering offshore, inshore, bottom fishing, trolling, fly fishing, and overnight trips. Fishing tournaments held in the area could see indirect impacts as well. The number of people actively participating in the tournaments, and the number of people attending various tournament events, such as award ceremonies, could increase from implementing this alternative. The annual Thunder on the Gulf powerboat races, held in Orange Beach, could experience an increase in the amount of people in the area. Guests to the FLC could increase the numbers of people attending the races. Guests of the developments could also present an indirect impact to other types of charter cruises by booking a trip with one of the many dolphin, party, and luxury cruises offered in the area. Long-term indirect impacts to Gulf State Park could occur under the Maximum Boat Slip Alternative. This alternative would not have a direct impact on the number of people staying at the park, but the added number of tourists to the area could result in an indirect impact by increasing the number of people participating in the recreational opportunities offered by the park. There could be more daytime visitors taking advantage of the golf course, lake activities, and nature programs. The amount of overnight visitors would remain at current levels, unless the park added additional camping areas. The Gulf Shores-Orange Beach Loop of the Alabama Gulf Coastal Birding Trail could experience an increase in the amount of birders following the loop enjoying various loons, sparrows, gulls, wading birds, and waterfowl. It would be expected that more visitors would take advantage of the trail during the migratory bird season as waterfowl are passing through the area. The area golf courses and country clubs would experience an indirect impact from an increase in customers attracted by the full service golf shops and club houses, link side condominiums, and upscale Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-26 Draft Environmental Impact Statement 1 2 3 4 5 6 7 shopping offered by these golf courses. It is anticipated that more rounds would be played at the area golf courses, and new golf courses could be constructed to meet the increase in demand. An indirect impact to the Gulf Shores and Orange Beach area restaurants, retail centers, and various spas and health centers could result from an increase in customers. Increased number of people staying in the area as guests of the developments could translate to an increase in the number of customers frequenting area restaurants, retail centers, and spas. 8 9 10 11 12 13 4.6.3 14 4.7 GEOLOGY AND SOILS 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 4.7.1 37 38 39 40 41 42 43 44 45 Minimum Boat Slip Alternative Direct and Indirect Impacts to Recreational Resources The impacts under the Minimum Boat Slip Alternative would be similar to the impacts described in the Maximum Boat Slip Alternative; however, the impacts experienced under this alternative would increase proportional to the phased development. No Action Alternative Direct and Indirect Impacts to Geology and Soils Short-term direct minor adverse impacts and long-term indirect negligible impacts on geology and soils would be expected from implementation of the No Action Alternative. Development of the project area and lands adjacent to USACE property would have minor adverse impacts. Some increase in soil disturbance would be expected in previously undisturbed areas. Soil disturbance and sediment runoff would occur during construction activities. After construction, exposed soils would either be paved or revegetated. An increase in impervious surfaces would increase surface runoff. The implementation of sediment control BMPs, including the installation of linear sediment barriers or gravel bag berms could help slow or detain the flow of stormwater to allow sediment to settle and be trapped. Minor adverse impacts on soils would be expected for landowners with property adjacent to government property continuing to clear vegetative buffers. The reduction in vegetative cover could increase soil erosion. If grassy cover was to remain in modified areas and bare soil was not exposed, the amount of soil erosion would be limited. An increase in boating traffic could increase shoreline erosion due to wave action caused by boat wakes. Negligible adverse impacts on soils would be temporarily expected from the installation of private boat docks in the ROI. Installation of docks could temporarily increase soil erosion when docks are anchored to the shoreline. Docks could also reduce shoreline erosion by attenuating waves and boat wakes. In addition, the small potential increase in boating activity under this alternative could increase wave action and thus cause some shoreline erosion. 4.7.2 Maximum Boat Slip Alternative Direct and Indirect Impacts to Geology and Soils Short-term minor adverse impacts on soils would be expected under this alternative from disturbance during construction, but construction would not permanently alter the geology or soils of the FLC. After construction, exposed soils would be either paved or revegetated, and n increase in impervious surfaces would increase surface runoff. The implementation of sediment control BMPs, including the installation of linear sediment barriers or gravel bag berms, could help slow or detain the flow of stormwater to allow sediment to settle and be trapped. Excavation of soil and sediment to create the proposed marinas and marina access to the FLC would increase the amount of shoreline exposed to bank erosion. Measures that Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-27 Draft Environmental Impact Statement 1 2 3 4 5 6 7 have the potential to help control bank erosion would include the installation of native vegetation or rip rap. Long-term minor adverse impacts would be the result of increasing both boating activity and the number of boat slips. Increasing the number of boat slips could cause an increase in the number of boats on the FLC. Expanding boating activity could increase the amount of wave action in the FLC, causing additional shoreline erosion. 8 9 10 11 12 4.7.3 13 4.8 ECOLOGICAL SYSTEMS 14 15 16 17 18 19 4.8.1 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 Minimum Boat Slip Alternative Direct and Indirect Impacts to Geology and Soils Impacts for the Minimum Boat Slip Alternative would be similar to the impacts discussed in the Maximum Boat Slip Alternative. No Action Alternative Direct and Indirect Impacts to Ecological Systems If the upland developments are constructed, the impacts would be similar to that listed below in the Maximum Boat Slip Alternative. Vegetative and wildlife resources, as well as sensitive species and habitats, would have no changes to diversity or function under the No Action Alternative. There would also be no net loss of wetlands under the No Action Alternative. 4.8.2 Maximum Boat Slip Alternative Direct Impacts to Ecological Systems There would be direct impacts to ecological communities under the Maximum Boat Slip Alternative. Construction of the mix-use developments and the dredging and filling for the associated marina would have adverse impacts to upland pine communities located in the area. Upland pine communities along the FLC would be cleared to allow for the proposed developments, as well as for safety purposes regarding line of sight for boats entering and exiting the FLC through new marinas. Upland areas would also be dredged to create marinas, and used as disposal sites for the resulting dredged sediments. Sensitive animal species in the vicinity of the project area could experience direct impacts as a result of the proposed developments. TES surveys were conducted in the vicinity of the FLC to ensure no sensitive species would be impacted by the developments. TES species were not observed within the vicinity of the FLC. It should be noted that although not observed during the surveys, there does exist the potential for some TES to occur in the vicinity of the FLC. These species include the red-cockaded woodpecker, Bald Eagle, Alabama red-bellied turtle, Gulf sturgeon, and Eastern indigo snake. There are two sensitive habitats, pitcher plant bog and longleaf pine savanna, that have been identified in the FLC area, but these habitats would experience no direct impacts as a result of the proposed developments. Pitcher plant bog habitats have not been observed along the FLC. Although longleaf pine savanna habitat has been observed in small areas along the FLC, there are no longleaf pine habitats within any of the proposed developments. There would be no impacts to EFH in the vicinity of the FLC. An oyster reef is located 2.5 miles northwest of the Bayside Harbour project area that would not be impacted by the development, and a survey of the Oyster Bay Marina project area concluded that there are no known oyster beds or submerged aquatic vegetation in the area. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-28 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 A total of 2.06 acres of jurisdictional wetlands would be adversely impacted by three of the proposed developments. Impacts to jurisdictional wetlands would result from dredging and filling of the wetlands to construct marinas and are associated with the following three developments: 501 Point West would impact 0.8 acres, Summerdance East would impact 0.29 acres, and Walker Creek/Portage Crossing would impact 0.97 acres of jurisdictional wetlands. The Summerdance East and 501 Point West applicants have proposed to mitigate for unavoidable impacts to jurisdictional wetlands in accordance with mitigation plans developed during the permit evaluation process, or by purchasing credits at approved mitigation banks. A mitigation plan for Walker Creek/Portage Crossing has not been prepared. Other possible wetland impacts would be avoided during construction, and certain mitigation measures have also been proposed by the developers. An access bridge to 501 Point West from C.R. 4 would be built spanning wetlands, and would be located to minimize the distance to cross the wetlands. Hydrology of the area would be maintained using a system of culverts. The Bayside Harbour development would construct boardwalks with no net loss of wetlands; one would run north-south along the Oyster Bay shoreline and tidal fringe wetlands, and one would run east-west across another section of wetlands. A proposed road for the Bon Secour Village West development in the western edge of the development would maintain hydrologic connectivity to wetlands on either side of the road through the use of culverts. The Bon Secour Village West development would maintain five-foot setbacks from jurisdictional wetlands throughout the remainder of the development. The Oyster Bay Marina Development would construct a boardwalk over tidally influenced wetlands to connect the upland development to the associated marina. The boardwalk would be constructed to ADEM regulations, and would contain ¾ inch spacing between planks to allow sufficient light to pass down to wetland vegetation below the boardwalk. No net loss of wetlands would result from the construction of this boardwalk. Indirect Impacts to Ecological Systems Indirect impacts could be experienced by estuarine and marine habitats, aquatic wildlife, aquatic sensitive plants and animals, and EFH from actions associated with the developments. A decrease to the overall environmental quality of the aquatic habitat could result from the possible increases in turbidity and decreases in water quality from dredging, increased boat traffic, and other stressors associated with the proposed developments. Also, increased boater traffic on the FLC, as a result from new boat slips and marinas, could cause indirect adverse impacts to aquatic species traveling the FLC. The Federally protected Florida manatee (Trichechus manatus latirostris) is known to be susceptible to harm from boat traffic associated with similar developments. It should be noted that the manatee has never been observed in the FLC, although its presence is possible. 4.8.3 Minimum Boat Slip Alternative 35 36 37 38 39 40 41 Direct and Indirect Impacts to Ecological Systems Impacts experienced under this alternative would be similar to the impacts discussed under the Maximum Boat Slip Alternative. Only those impacts associated with increased boat traffic along the FLC would differ because this alternative provides for the total number of boat slips to be permitted over a longer period of time. 42 4.9 CULTURAL RESOURCES 43 44 45 46 4.9.1 No action alternative Direct and Indirect Impacts to Cultural Resources There would be no direct or indirect impacts to cultural resources under the No Action Alternative. Under this alternative, the Corps would continue to review permits using the same procedures and analytical Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-29 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 tools used in the past and would continue to identify and mitigate adverse impacts on cultural resources. Federal and state regulations would continue to provide guidance on the protection of cultural resources. 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 4.9.2 To protect cultural resources, the state of Alabama has a Strategic Plan & Comprehensive Statewide Preservation Plan that was revised in 2003 (AHC, 2008). Alabama also has a set of guidelines for section 106 of the NHPA of 1966. The section 106 Program is in place to help identify historic and prehistoric properties eligible for or listed in the National Register, assess the impacts of the undertaking on those properties, and seek ways to avoid, minimize, or mitigate any adverse impacts on historic properties in the state of Alabama (AHC, 2008). Aboriginal mounds and burials are covered in Aboriginal Mounds, Earthworks and Other Antiquities (Alabama Code 41-3-1 to 41-3-6); Alabama Cemetery and Human Remains Protection Act (93-905); and Burials (AHC Chapter 460-x-10). The purpose of these regulations is to provide for the lawful excavation, relocation, and/or restoration of cemeteries and human remains as described in Alabama Act 93-905. The AHC oversees the provisions of this Act relating permitting activities, and has developed the Policy for Archaeological Survey and Testing in Alabama for Phase I and II projects (AHC, 2008). Alabama underwater cultural resources are covered by AHC Chapter 460-x-12-.01. The purpose of this regulation is to provide for the lawful protection, exploration, identification, excavation, preservation, and enjoyment of non-renewable underwater cultural resources as defined in the Code of Alabama 1975 Section 41-9-290 through 299.2. In addition, private organizations also work to protect cultural resources. These organizations include the Alabama Trust for Historic Preservation, Alabama Archaeological Society, the Alabama Association of Professional Archaeologists, the Alabama Poarch Band of Creek Indians, the Alabama Cemetery Preservation Alliance, the AHC Black Heritage Council, and, locally, the Baldwin County Architectural Preservation Review Board. Local government and private associations can protect historic buildings, archaeological sites, and other historic resources through these government mechanisms by requiring review of new construction and adherence to federal and state laws protecting historic resources. Under the No Action Alternative, these regulations, guidelines and private organizations would also continue to protect cultural resources in the project area. Maximum Boat Slip Alternative Direct Impacts to Cultural Resources Under this alternative, cultural resources would not be directly impacted. The AHC has determined that the proposed upland developments and marinas would have no impact on any known cultural resources listed on or eligible for the NRHP (AHC, 2006). The three Phase I surveys required by the Alabama SHPO, for the proposed Oyster Bay Marina, 501 Point West, and Bayside Harbour developments, found no archeological resources or standing structures listed on or eligible for the National Register of Historic Resources within the project boundaries. Should any archaeological cultural resources be encountered during project activities, work shall cease and the AHC office consulted immediately. Indirect Impacts to Cultural Resources Minor long-term adverse indirect impacts to cultural resources located in the vicinity of the proposed Oyster Bay Marina development. The Phase I Cultural Resource Survey conducted for this development notes that the site file and literature search reveal that “Indian Canals and Mounds” (sites 1Ba122 to 1Ba128) are adjacent to the project area. However, the Phase I Cultural Resource Survey states that the “Indian Mounds” are in an unlikely location and are most likely spoil piles associated with the dug canal. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-30 Draft Environmental Impact Statement 1 2 3 The canal is probably a historic site that served as a route between the settlement at Bon Secour and Little Lagoon. Increased waterway traffic and recreational activities in Oyster Bay could cause erosion in the canal. 4 5 6 7 8 4.9.3 9 4.10 AIR QUALITY 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 Minimum Boat Slip Alternative Direct and Indirect Impacts to Cultural Resources The impacts under the Minimum Boat Slip Alternative would be similar to the impacts described in the Maximum Boat Slip Alternative. 4.10.1 No Action Alternative Direct and Indirect Impacts to Air Quality If the upland development would occur, the impacts would be similar to the impacts listed below in the Maximum Boat Slip Alternative. Without construction of the upland developments, no activities with new sources of air emissions would be established including construction, landscaping, boating, dredging, and heating and cooling of houses and commercial properties. The permitting of stationary sources would not be required. However, under the No Action Alternative, contemporaneous actions including other regional growth would continue and have some level of impact to air quality. 4.10.2 Maximum Boat Slip Alternative Direct and Indirect Impacts to Air Quality Implementing this alternative would have both short-term and long-term moderate adverse impacts to air quality. Short-term impacts would be due to air emissions generated during the construction of the proposed developments and marinas. Long-term impacts would be due to additional vehicle use, marine watercraft emissions, landscaping activities, heating of houses, and the use of consumer products. These increases would be greater than 100 tons per year (tpy) for NOx, VOCs, and CO. However, increases in emissions would not be regionally significant, or contribute to a violation of any federal, state, or local air regulations. 4.10.2.1 Emissions overview The total direct and indirect emissions associated with the implementation of this alternative were estimated (Table 59). Emissions from heavy construction activities, transportation of materials, automobile trips, boating activities, landscaping, heating of houses, and the use of consumer products were assessed. Pre-sales activities, planning, and scheduling would vary for each development. It was assumed construction would begin in the fall of 2009, and total build-out of all developments and marinas would occur within seven years. It was assumed that the operational emissions (such as automobiles and recreational watercraft) would build-up evenly over a seven year period beginning in 2010. Total NOx and VOC emissions due to the proposed development activities would exceed 100 tpy for all years beyond 2011. Because the region is an attainment area, there is no existing emission budget. However, it is not anticipated that the estimated emission would make up 10 percent or more of regional emissions for any criteria pollutant, and not be regionally significant. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-31 Draft Environmental Impact Statement 1 Table 59. Estimated Total Annual Emissions Total Emissions 2009 2010 2011 2012 2013 2014 2015 2016 2017 2018+ 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 NOx 3.7 27.3 173.8 308.1 374.1 480.1 586.4 693.4 796.4 774.1 VOC 0.4 9.1 88.0 137.7 175.2 219.7 264.3 309.0 347.6 316.5 Greater than 100 tpy No No Yes Yes Yes Yes Yes Yes Yes Yes Level of Impact Moderate Source: SCAQMD 2007, USEPA 2004 4.10.2.2 Mobile Sources and Recreational Watercraft Mobile sources of concern primarily include automobiles and vehicular traffic. Watercraft are normally considered non-road area sources of emissions. However, since O3 is a pollutant of concern for the region, and peak watercraft use coincides with the ozone season, watercraft have been included in this discussion for comparative purposes. The primary air pollutants from automobiles and watercraft are CO, NOx, and VOCs. Lead emissions from these sources have declined in recent years through the increased use of unleaded gasoline. Potential SO2 and particulate emissions from mobile sources are small compared to emissions from point sources, such as power plants and industrial facilities. Emissions from automobiles and watercraft associated with this alternative have been estimated for an average summer weekday (Table 60). Table 60. Estimated Automobile and Watercraft Emissions Estimated Automobile and Watercraft Emissions (Tons / Summer Weekday) 17 18 19 20 21 22 23 24 25 26 VOC NOx 0.67 0.84 Automobiles Recreational Watercraft 0.19 1.16 Total Emissions 0.86 2.00 Source: SCAQMD 2007, USEPA 2004 Although not regionally significant, these levels of emissions are substantial, and would constitute a moderate impact to regional air quality. Automobiles. Specific air quality impacts from roadway traffic are generally evaluated on two scales: meso-scale and microscale. Meso-scale—Meso-scale analysis would be performed for the entire AQCR by ADEM. Potential emission increases from additional vehicle miles traveled resulting from an action could affect regional O3 levels. However, because these are problems of regional concern and subject to air Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-32 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 transport phenomena under different weather conditions, regional impacts are generally evaluated using airshed model(s). Meso-scale analysis is generally not conducted on a project-specific basis and is not necessary for this EIS. ADEM would incorporate the development activities into their regional planning assumption, and if necessary, implement regional controls in order to maintain the AQCR’s attainment status. Microscale— Microscale analysis is performed to identify localized hot spots of criteria pollutants. CO is a site-specific pollutant with higher concentrations found adjacent to roadways and signalized intersections. Microscale analysis is often conducted on a project-specific basis in regions where CO is of particular concern. Because South Baldwin County is neither a nonattainment, nor a maintenance area for CO, micro-scale analysis is not necessary for this EIS. 12 13 14 15 16 17 18 19 20 21 22 Mobile Source Air Toxics (MSATs) are a subset of the 188 air toxics defined by the CAA. The MSATs are compounds emitted from highway vehicles and non-road equipment. Some toxic compounds are present in fuel and are emitted to the air when the fuel evaporates or passes through the engine unburned. Other toxics are emitted from the incomplete combustion of fuels or as secondary combustion products. Traffic from these intersections would not be an air quality concern for MSAT because the intersections affected are primarily secondary arterial roads. Quantitative procedures to conduct MSAT analysis have not yet been standardized and are not standard practice for non-transportation projects on secondary arterials; therefore such analysis is not included in this EIS (FHWA 2006). In addition, quantitative procedures to address PM2.5 hot spot analysis have not yet been standardized and it is not standard practice to conduct such analysis for non-transportation projects; therefore, such analysis is not included in this EIS (USEPA 2008). 23 24 25 26 27 28 29 30 31 Watercraft. Before 1990, personal watercraft emissions were unregulated in the United States. Many were powered by two-stroke cycle engines, which are smaller and lighter than four-stroke cycle engines but much more polluting. In 1996, and again in 2006, the USEPA implemented a control program to reduce emissions from small spark-ignition engines. The newest exhaust emissions standards would begin in 2011, and would be phased in over several years (USEPA 2004). The majority of the watercraft associated with the action would meet the new emission control standards. In general, they would have increased prevalence of four-stroke engines, direct injection for two-strokes, and catalytic converters. As with automobiles, ADEM would incorporate these activities into their regional planning assumptions, and if necessary, implement regional controls in order to maintain the region’s attainment status. 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 4.10.2.3 Regulatory Review No new significant stationary sources of air emissions are expected. The proposed housing and commercial properties would be equipped with individual furnaces for heating. These stationary sources of air emissions would not likely be subject to federal and state air permitting regulations, including New Source Review, Prevention of Significant Deterioration, or New Source Performance Standards. Although heating units above 10 million British thermal units per hour (MMBtu/hr) are not planned at this time, a construction permit application for any such units would be submitted to ADEM at least 90 days prior to construction. The housing and commercial properties would be owned, operated, and maintained initially by the developers and ultimately by the owners of the property. Developers would need to perform an air quality regulatory analysis to determine whether any CAA permitting is required for the operation of any sources of air emissions associated with the proposed action. Given the variety and complexity of activities at the new developments, case-by-case determinations would be necessary to determine whether the existing sources would require air permits. If boilers or other equipment capable of producing emissions are installed as a result of this project, individual developers would obtain a permit to construct from ADEM’s Air Division. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-33 Draft Environmental Impact Statement 1 2 3 4 There would be no development-wide limitations on construction-phase emissions of criteria pollutants. However, the construction projects would be accomplished in full compliance with Alabama regulatory requirements, through the use of compliant practices and/or products. These requirements appear in ADEM Administrative Code 335 – Air Quality. They include: 5 • Control of Open Burning and Incineration (ADEM Admin. Code r. 335-3-3) 6 • Control of Particulate Emissions (ADEM Admin. Code r. 335-3-4) 7 • Control of Organic Emissions (ADEM Admin. Code r. 335-3-6) 8 • Control of Fuels (ADEM Admin. Code r. 335-3-20) 9 10 11 12 13 14 Developers, contractors, and their subcontractors would comply with all applicable Alabama air pollution control regulations. In addition, developers would take reasonable precautions to prevent dust from becoming airborne. These precautions would include, but not be limited to: • Where possible, using water to control dust from the demolition of existing buildings or structures and from road grading or land clearing. 15 16 • Applying asphalt or water on dirt roads, materials, stockpiles, and other surfaces that can give rise to airborne dust. 17 18 • Covering, when in motion, open-bodied trucks transporting materials likely to give rise to airborne dust. 19 20 • Promptly removing earth or other material from paved streets onto which the earth or other material has been deposited. 21 22 23 24 25 26 27 28 29 30 31 Greenhouse gasses and global warming. Greenhouse gases (GHG) are components of the atmosphere that contribute to the greenhouse effect and global warming. Some greenhouse gases occur naturally in the atmosphere, while others result from human activities such as the burning of fossil fuels. According to the Kyoto Protocol, there are six GHGs: carbon dioxide (CO2), nitrous oxide (N2O), methane (CH4), hydrofluorocarbons (HFCs), perfluorocarbons (PFCs), and sulfur hexafluoride (SF6) (UNFCC 2007). Under the Maximum Boat Slip Alternative, construction equipment, automobiles, and watercraft would burn fossil fuels and release small amounts of both H2O and CO2. The amounts would be negligible when compared to annual anthropogenic emissions of these materials released on a global scale (USEPA 2007). These are the only GHGs that would be emitted. Because of the limited amount of emissions and rapid dispersion by stratospheric winds, the Maximum Boat Slip Alternative would not contribute significantly to either GHGs or global warming. 32 33 34 35 36 37 38 39 40 41 42 43 44 45 4.10.3 Minimum Boat Slip Alternative Direct and Indirect Impacts to Air Quality Implementing this alternative would have both short-term and long-term moderate adverse impacts to air quality. Short-term impacts would be due to air emissions generated during the construction of the proposed developments and marinas. Long-term impacts would be due to additional vehicle use, marine watercraft emissions, landscaping activities, heating of houses, and the use of consumer products. These increases would be greater than 100 tpy for NOx, VOCs, and CO. However, increases in emissions would not be regionally significant, or contribute to a violation of any federal, state, or local air regulations. The phasing in of recreational watercraft and marina construction could have small and subtle changes on emissions during any given year. However, using the existing planning assumptions, estimated emissions ultimately would be similar to those outlined under the Maximum Boat Slip Alternative. Emissions due to construction, area sources, automobiles, and personal watercraft would not differ appreciably. Therefore, similar to the Maximum Boat Slip Alternative, and for the same reasons, both short-term and long-term impacts would be moderate. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-34 Draft Environmental Impact Statement 1 4.11 HAZARDOUS AND TOXIC SUBSTANCES AND POLLUTION 2 3 4 5 6 4.11.1 No Action Alternative 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 Direct and Indirect Impacts to Hazardous and Toxic Substances and Pollution If the upland development would occur, the impacts would be similar to the impacts listed below in the Maximum Boat Slip Alternative. Without construction of the upland developments, no adverse impacts would be expected from the No Action Alternative. 4.11.2 Maximum Boat Slip Alternative Direct Impacts to Hazardous and Toxic Substances and Pollution Short-term minor adverse impacts would be expected from the limited amounts of HAZMAT used and wastes generated during marina construction. The use of these materials and generated waste could create a minor potential for hazardous spills. Construction contractors would be required to comply with all local, state and federal regulations pertaining to the handling and management of HAZMAT and waste. Once the marinas are operational, long-term minor adverse impacts would be expected from petroleum product storage/dispensing and from waste generated from marina and boat maintenance activities. Permitting and enforcement mechanisms for these activities would provide assurance against contamination of environmental media and would be protective of human health and environment. Permitting requirements for marinas are found in the Gulf Shores, Alabama Code of Ordinances, Article XIII Marinas. The ordinance requires marinas to submit an Operation and Maintenance plan (including BMPs) to the city for approval before any city permits would be issued. Requirements found in Article XIII include: • • • Sewage management Fuel management (where applicable): o Fueling systems must comply with all state, federal and National Fire Prevention Association (NFPA) petroleum handling and storage requirements and adhere to the2003 Gas and Fuel Code and 2003 International Fire Code. o Fueling tanks must have engineering approval and tank specifications which shall be provided to the city. o Tanks shall have hurricane anchoring system approved by a design professional. o Tanks shall have an anti-floatation system approved by a design professional if the marina is located with a flood zone as set fourth in Federal Emergency Management Association (FEMA). o Must conduct annual inspections to ensure fueling systems are kept in compliance with all regulations. o Must have a spill prevention, control and countermeasure plan (SPCC) in place. These plans outline procedures designed to contain spills such as fuel or oil. The plan must be in place and ready to implement at all times in the event of a spill due to storm events, human error, or machinery malfunction. o Marina supervisors shall regularly inspect, maintain, repair, and replace fueling components as needed. Waste management: o All waste disposals shall be in accordance with federal, state, and local regulations. o No person shall discharge or deposit or cause to be discharged or deposited from any vessel or from the shore, dock, float or gangway, or otherwise, any refuse matter of any kind whatsoever into or upon the waters or lands of the marina. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-35 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 No person shall discharge or cause to be discharged oil (including emulsified oils and excessive, unburned fuels from engine exhaust), spirits, and flammable liquids or contaminated bilge water onto the waters or lands of the marina, or into any drains in the marina. Vessel cleaning and repair: o Cleaning of vessels should be done in designated areas and toxic or HAZMAT shall not be used or allowed to enter marina waters and repairs to vessels shall be done in designated areas where no fuels and/or oils enter the marina waters. Dry storage facilities: o Must adhere to the 2003 International Building Code, 2003 International Fire Code and 2003 Gas and Fuel Code. o Must have an emergency storm preparedness plan. o Must comply with all state, federal and National Fire Prevention Association petroleum handling and storage requirements. o • • Additionally, the marinas must adhere to the Clean Marina Initiative from the National Oceanic and Atmospheric Administration (NOAA) and the city strongly encourages all marinas to participate in the voluntary Alabama-Mississippi Clean Marina Program. The program promotes environmentally responsible marinas and boating practices. Indirect Impacts to Hazardous Waste and Toxic Substances and Pollution Long-term minor adverse impacts would be expected from the increased operation of recreational and commercial watercraft on the FLC. Local, state, and federal regulations prohibits the disposal of waste, trash, oil, and other liquid pollutants in federally-controlled and state waters. Federal law states that discharging oil or hazardous substances into the water is not allowed. The boating laws of Alabama are enforced by Marine Police officers, county sheriffs, and USCG officers. 4.11.3 Minimum Boat Slip Alternative 27 28 29 30 31 Direct and Indirect Impacts to Hazardous Waste and Toxic Substances and Pollution The impacts under the Minimum Boat Slip Alternative would be similar to the impacts described under Maximum Boat Slip Alternative. 32 4.12 NOISE 33 34 35 36 37 38 39 4.12.1 No Action Alternative 40 41 42 43 44 45 Direct and Indirect Impacts to Noise If the upland developments are constructed, the impacts would be similar to those listed below in the Maximum Boat Slip Alternative. Without construction of the upland development, no activities with new sources of noise would be established including construction and boating activities. However, under the No Action Alternative, contemporaneous actions including other regional growth would continue and have some level of noise impact. 4.12.2 Maximum Boat Slip Alternative Direct and Indirect Impacts to Noise Implementing the Maximum Boat Slip Alternative would have both short-term and long-term moderate adverse impacts to the noise environment. Short-term impacts would be due to noise generated during the construction of the proposed developments and marinas. Long-term impacts would be due to additional marine watercraft activities within the waterway. These increases would not result in long-term DNL Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-36 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 greater than 65 for nearby noise sensitive areas (NSAs), nor would they contribute to a violation of any federal, state, or local noise regulation. 4.12.2.1 Construction Noise Each of the proposed developments would have some form of heavy construction. Sources of construction noise would be the operation of heavy equipment, dredging, and pile driving activities. The level of impact on a noise sensitive area (NSA) would vary depending on the type, number, and loudness of equipment in use at any given time. Individual pieces of heavy construction equipment typically generate noise levels of 80 to 90 dBA at a distance of 50 feet. With multiple items of equipment operating concurrently, noise levels would be relatively high during daytime periods at locations within several hundred feet of active construction sites. Pile driving for the marinas would generate the most intense noise associated with construction. Noise associated with pile driving activities is an impact type noise. Impact type noises are those of high intensity and a very short duration, and can be particularly intrusive. Noise attributable to the dredging activities would be comparable to that of heavy construction activities outlined above. However, it would propagate more readily up and down the waterway. Figure 43 presents maximum noise levels vs. distance for heavy construction and pile driving activities. Figure 43. Maximum Noise Levels vs. Distance for Construction Related Activities Source: ADOT 2006 The zone of relatively high construction noise levels typically extends to distances of 400 to 800 feet from the site of heavy equipment operations. Locations more than 1,000 feet from construction sites seldom experience substantial levels (greater than 62 dBA) of construction noise. For NSAs closer than 5000 feet (1525 meters) (approximately 1 mile) to the site, construction noise would be audible, but distant. Table 61 outlines the distance to the closest NSA, and the level of short-term impact due to construction noise at each site. The majority of the proposed developments would be within 1000 feet of a NSA. Noise at nearby NSAs would be appreciable at these sites. These impacts would be cumulative at many locations; particularly those along the FLC portion of the waterway directly across from existing housing. Both 47 Canal Place and Walker Creek/Portage Crossing would need to comply with the Orange Beach Noise ordinance, and Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-37 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 restrictions on nighttime construction activities would be required. Due to the extended period of construction, and the collective nature of the impacts, the overall short-term impacts would be considered moderate. During construction, BMPs with respect to noise would be observed. Developers would: • Limit construction primarily to normal weekday daylight or business hours, specifically in areas adjacent to noise sensitive land uses such as residential areas. • Ensure construction equipment mufflers were properly maintained and in good working order. • Coordinate with residence owners and/or tenants prior to unavoidable construction activities directly adjacent to established residential areas. 11 12 Table 61. Estimated Level of Short-term Impact Due to Construction Noise NSA Closer than 5000 feet (1525 meters) Development 47 Canal Place 501 Point West Bayside Harbour Bon Secour Village Delfino Resorts Harbour Lights KFPH Properties Lawrenz Oyster Bay Marina Portage Crossing Summerdance (West) Summerdance (Central) Summerdance (East) Waterways East NSA Closer than 1000 feet (305 meters) Closest Noise Sensitive Area (NSA) 1638 feet (500 meters) 1125 feet (342 meters) 50 feet (15 meters) 300 feet (92 meters) 300 feet (92 meters) 300 feet (92 meters) 300 feet (92 meters) 300 feet (92 meters) 255 feet (77 meters) 3442 feet (1050 meters) Audible but Distant Yes Yes Yes Yes Yes Yes Yes Yes Yes Yes Clearly Audible Construction Noise No No Yes Yes Yes Yes Yes Yes Yes No Level of Impact Negligible Negligible Minor Minor Minor Minor Minor Minor Minor Negligible 584 feet (178 meters) Yes Yes Minor 3250 feet (991 meters) 2000 feet (617 meters) 300 feet (92 meters) Yes Yes Yes No No Yes Negligible Negligible Minor 13 14 4.12.2.2 Aircraft Noise 15 16 17 18 19 20 21 22 23 Noise from aircraft operations originating from the Jack Edwards Airport would be clearly audible, and frequent for residents of the proposed developments. However, all the proposed developments, except Summerdance, would be outside the projected (2015) 65 dBA DNL noise contour for the Jack Edwards Airport. They would not create any new incompatible land use areas with respect to noise. Those areas at the Summerdance development within the contours are not currently slated for construction of residential housing. However, the proposed location of the Summerdance development could become a limiting factor in the future growth of air operations at the airport. Any structures within the Jack Edwards Airport Noise Overlay district would need to meet required minimum noise attenuation construction standards, as outlined in the Gulf Shores zoning ordinance. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-38 Draft Environmental Impact Statement 1 4.12.2.3 Boating Noise 2 3 4 5 A description of the impacts of boating activities on the overall (annual) noise environment, and during the peak summer period are described herein. The level of impact was determined by comparing the estimated overall noise environment (DNL) to the 65 dBA standard. A description of noise during peak summer periods are included to help better describe the specific impacts due to boating activities. 6 7 8 9 10 11 12 13 14 15 Overall Boating Noise. For the Maximum Boat Slip Alternative, DNL of 59.2 dBA was estimated for proposed boating conditions at the nearest residential property boundary (i.e., the edge of the waterway). Below 65 dBA, these levels would not create any areas of incompatible land use due to noise. However, at this level, approximately 20 percent of individuals would be highly annoyed, and sporadic complaints would be expected (USEPA 1974). Throughout the year, boats would be audible from any location along the waterway 19 percent of the time; more so in the summer than in the winter. This estimate assumes that there would be approximately 151,000 pass bys in a given year and on average the boat would traverse the center of the waterway (Table 62). In general, there would be four times as many boats, and it would be four times (x4) as loud when compared to existing conditions. This would be a clearly perceptible change in the noise environment. These impacts are moderate. 16 17 Table 62. Annual Noise Conditions from Proposed Boating Activity DNL from Boating Activity (dBA) Percent Highly Annoyed (%) General Community Reaction 18 Existing Conditions 53.7 9% Negligible Maximum Boat Slip Alternative 59.2 20% Sporadic Complaints Minimum Boat Slip Alternative 57.4 18% Sporadic Complaints Source: USEPA 1974, PWIA 2008 19 20 21 22 23 24 25 26 27 28 Peak Days. Estimated sound levels from boating activities on a peak weekday and weekend day are outlined in Figure 44. For the Maximum Boat Slip Alternative, the majority of pass bys would be individual acoustical events. However, between the hours of 11 A.M. and 4 P.M on peak weekend days boating noise could be continuous and it would be difficult to differentiate one pass by from another. On the weekend, during the most active hour (2 to 3 P.M.), the average hourly SPL would be approximately 70 dBA (Table 63). During this period, boats would be audible from any location along the waterway 100 percent of the time. On the weekdays, during the most active hour the average SPL would be approximately 64 dBA. During this period, boats would be audible from any location along the waterway approximately 69 percent of the time. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-39 Draft Environmental Impact Statement 1 2 3 Figure 44. Maximum Boat Slip Alternative - Hourly Sound Levels from Boating Activity on a Peak Summer Day 4 5 6 Table 63. Peak Noise Conditions from Proposed Boating Activity Period Peak Weekend Day Maximum 1-Hour Equivalent Sound Level (dBA) Continuous Boating Sound (Hours/Day) Peak Weekday Maximum 1-Hour Equivalent Sound Level (dBA) Continuous Boating Sound (Hours/Day) 7 8 Existing Conditions Maximum Boat Slip Alternative Minimum Boat Slip Alternative 63 70 67 0 5 2 57 64 58 0 0 0 Source: PWIA 2008 9 10 4.12.3 Minimum Boat Slip Alternative 11 12 13 14 15 16 17 Implementing the Minimum Boat Slip Alternative would have both short-term and long-term moderate adverse impacts to the noise environment. In general, noise from the construction, aircraft, and boating activities for the Minimum Boat Slip Alternative would be the same as that outlined under the Maximum Boat Slip Alternative. Short-term impacts would be due to noise generated during the construction of the proposed developments and marinas. Long-term impacts would be due to additional marine watercraft activities within the waterway. These increases would not result in long-term DNL greater than 65 dBA for nearby NSAs, nor contribute to a violation of any federal, state, or local noise regulation. 18 19 Construction of the marinas could take somewhat longer under this alternative. However the overall levels of noise would be less intense during the construction phase. The overall impacts due to Direct and Indirect Impacts to Noise Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-40 Draft Environmental Impact Statement 1 2 construction noise would be moderate, and would be similar to those outlined under the Maximum Boat Slip Alternative. 3 4 The impacts on land use compatibility from the Jack Edwards Airport would be identical to that outlined under the Maximum Boat Slip Alternative. 5 6 7 8 If all boat slips were permitted, the impacts due to boating noise would ultimately be the same as those impacts outlined under the Maximum Boat Slip Alternative. However, a description of the impacts of boating activities on the overall noise environment, and during peak period for the minimum number of slips has been included in this EIS for comparative purposes. 9 10 11 12 13 14 15 16 17 18 Overall Boating Noise. If the Minimum Boat Slip Alternative was implemented, DNL of 57.4 dBA was estimated for proposed boating conditions at the nearest residential property boundary (i.e., the edge of the waterway). Below 65 dBA, these levels would not create any areas of incompatible land use due to noise. However, at this level, approximately 18 percent of individuals would be highly annoyed, and sporadic complains would be expected (USEPA 1974). Throughout the year, boats would be audible from any location along the waterway 13 percent of the time; more so in the summer than in the winter. This estimate assumes that there would be approximately 99,500 pass bys in a given year and on average the boat would traverse the center of the waterway (Table 62). In general, there would be greater than twice as many boats, and it would be more than twice as loud when compared to existing conditions. This would be a clearly perceptible change in the noise environment. These impacts would be moderate. 19 20 21 22 23 24 25 Peak Days. Estimated sound levels from boating activities on a peak weekday and weekend day is outlined in Figure 45. For Minimum Boat Slip Alternative, the majority of pass bys would be individual acoustical events. However, between the hours of 2 P.M and 4 P.M on peak weekend days boating noise would be continuous, and it would be difficult to differentiate one pass by from another. On the weekend, during the most active hour, the average hourly SPL would be approximately 67 dBA (Table 63). During this period, boats would be audible from any location along the waterway 100 percent of the time. On the weekdays, during the most active hour the average SPL would be approximately 58 dBA. 26 27 28 29 30 Figure 45. Minimum Boat Slip Alternative - Hourly Sound Levels from Boating Activity on a Peak Summer Day Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-41 Draft Environmental Impact Statement 1 4.13 LIGHT POLLUTION 2 3 4 5 6 7 8 9 10 11 12 4.13.1 No Action Alternative 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 4.13.2 Maximum Boat Slip Alternative 35 36 37 38 Direct and Indirect Impacts to Light Pollution Under the No Action Alternative, existing light pollution would continue to impact marine navigation and sea turtle ecology as described in Sections 3.13.2 and 3.13.3. Commercial barge operators have identified light pollution as a cause of navigation problems on the FLC. In addition, impacts to sea turtle nesting and hatching have been documented. Currently, the “Share the Beach” program monitors sea turtle nesting on Alabama’s coastal beaches and implements measures to decrease the risk to sea turtles during the nesting season. Measures implemented include installing tarps around three sides of a nest to block artificial light and digging trenches between a nest and the water to guide sea turtle hatchlings. Under the No Action Alternative, no mitigation measures would take place to decrease the amount of light pollution on the waterway and the associated risks to marine traffic and sea turtles would continue. Direct Impacts to Light Pollution Under this alternative, there would be long-term direct impacts to light pollution as the proposed developments would significantly contribute to the light environment in the ROI. This would result in an increase in light pollution in the area due to the additional residential, commercial, and marina lighting. Indirect Impacts to Light Pollution The increase in light pollution due to the proposed developments would have long-term indirect impacts on navigational traffic on the FLC due to boater vision impairment. Impaired vision can result in unsafe approaches to and under bridges, contribute to vision fatigue and disorientation, and increase the risk of accidents. There are currently no shoreline lighting regulations for the FLC, but measures could be taken to mitigate the navigation risk associated with increased light pollution. These measures could include lights impeding waterway visibility to be retrofitted or shielded to reduce background glare and increase boater vision of navigation aids, and all unnecessary lighting to be discontinued or used only when necessary. It has been documented that turtle hatchlings are generally attracted to light sources that are approximately 300 feet to 650 feet away from the nest, and generally moved towards the ocean if lights were approximately 1600 feet to 2600 feet away (Pendoley 2005). The proposed developments would be located more than 1.5 miles (7900 feet) from the shoreline. Due to this distance between the proposed developments and shoreline, light pollution impacts to sea turtle nesting and hatchlings would not be expected under this alternative. 4.13.3 Minimum Boat Slip Alternative Direct and Indirect Impacts to Light Pollution Direct and indirect impacts under the Minimum Boat Slip Alternative would be similar as the impacts described in the Maximum Boat Slip Alternative. 39 Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-42 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 4.14 CUMULATIVE IMPACTS CEQ regulations define a cumulative impact as “the impact on the environment which results from the incremental impact of the action when added to other past, present, and reasonably foreseeable future actions regardless of what agency (Federal or non-Federal) or person undertakes such other actions” (40 CFR 1508.7). The USACE considers a reasonably foreseeable action to be a future action for which there is a realistic expectation that the action should occur. Actions that pose the potential for cumulative impacts, that is, environmental or socioeconomic impacts when considered in combination with implementation of the preferred alternative, include: • Development along the local Gulf coastline, including West Beach, East Beach, and Perdido Beach Boulevard. • City of Orange Beach annexation of land north of Bay La Launch, Amica Bay, and land in close proximity to the Foley Beach Expressway. • The addition of the designation of the ICW-Intracoastal Waterway District and Intracoastal Waterway District-East to the city of Gulf Shores Use Regulations for Business and Industrial districts. • The construction and expansion of the Foley Beach Expressway to provide direct access to Orange Beach from S.R. 59, and proposed roadway improvements to provide enhanced service to and from the Expressway, including the construction of new access roads and expansions of some existing roads. The activities or initiatives listed above are relevant to this EIS in that they result in, or support, the continued development of southern Baldwin County. Further, these actions indicate that there is a realistic expectation for development to continue (1) along the Gulf coastline, (2) along the FLC, and (3) those locations served by the Foley Beach Expressway and areas that benefit from proposed road improvements. The strategic growth guidelines developed by the cities of Gulf Shores and Orange Beach each seek to continue the economic growth of the region while still maintaining the integrity of the communities and rural areas. Following Hurricane Ivan in 2004, the city of Gulf Shores conducted the Envision Gulf Shores process which has focused redevelopment and future development in two major centers; “Gulf Place,” located on the Gulf coastline where S.R. 59 intersects with S.R. 180 (East Beach Boulevard), and along the FLC. The construction of the Foley Beach Expressway in Orange Beach also facilitates continued development along the FLC, while the annexation of land north of Bay La Launch and Amica Bay provides area for the city to expand. When considered alongside the direct and indirect impacts analyzed in this EIS, the continued development of southern Baldwin County could have environmental and socioeconomic cumulative impacts for the area. In this section, cumulative impacts are discussed primarily on a qualitative basis as many of the environmental and socioeconomic parameters of future development are unknown, but their aspects are estimated and quantified where sufficient data is available. 4.14.1 Socioeconomic Impacts of Development Long-term beneficial and short-term adverse cumulative impacts would be expected. The establishment and operation of resort communities in Gulf Shores and Orange Beach continue to have positive impacts on the local economy. The proposed action of development along the FLC would be expected to add to Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-43 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 these beneficial economic impacts by increasing population, employment, income, and business sales in the ROI and providing additional recreational, retail, and commercial facilities and services. 40 41 42 43 44 45 4.14.2 Environmental Impacts of Development In addition to the 15 developments along the FLC under the proposed action, development could be expected to occur along the Gulf coastline, the FLC, and those locations served by the Foley Beach Expressway, predominately in the form of new commercial and residential construction. There are also market indications that consumer preference has shifted from a demand to be located on the Gulf, to a demand to be near the Gulf, thus avoiding the stress associated with renovating and rebuilding after hurricanes as well as the increased insurance rates for locations on the beach. The recent annexation by the city of by Orange Beach of land north of Bay La Launch, Amica Bay, and land in close proximity to the Foley Beach Expressway supports a model of growth for more inland developments. The city of Orange Beach has also proposed the Wolf Bay Bridge to link the city with the annexed area. The bridge is proposed north of the S.R. 161/180 intersection and would connect Orange Beach with the Josephine and Lillian communities to the north, with the future goal of extending the expressway to Interstates 10 and 65. There are a number of other economic development projects (in progress or proposed) in the ROI that would have short- and long-term impacts on the local economy and sociological conditions. A number of new companies recently established themselves in the ROI. The Baldwin County Economic Development Alliance reported that between 2001 and 2005, there were 125 company relocations, expansions, or startups in Baldwin County, creating 3,300 new jobs and $157 million in capital investment (BCEDA 2008). One of the county’s goals is to continue to expand the manufacturing, distribution, and professional sectors (such as the aerospace industry) to diversify the economy and balance the growth of the service (including tourism) and retail industries. These actions, combined with the expected impacts from the proposed alternatives, would have beneficial and adverse cumulative impacts on the ROI. These actions would benefit the ROI by contributing to the projected growth in regional employment, income, and sales. The adverse impacts could result from the sustained demand of the increased population on the region’s infrastructure and the local economy’s ability to expand to meet the demand. The strategic growth plans of Baldwin County, Gulf Shores, and Orange Beach each anticipate continued development and have management goals in place to counter strains on public resources. Continued development would compound impacts to recreation and recreational facilities. Development along the GIWW, Bay La Launch, and Amica Bay could result in an increase of boating activities in the Back Bay area12. The FLC and Perdido Pass could be especially affected, as narrower bodies of water with maintained channel widths of 125 and 150 feet, respectively. The mitigation measures currently proposed by the cities of Gulf Shores and Orange Beach, to initiate the presence of marine police and expand boater safety courses, could help mitigate any significant adverse impacts. In combination with the proposed action evaluated in this EIS, future development could create cumulative impacts to the land cover, water quality of the Back Bay area, and groundwater resources. As development continues to affect inland areas, the land cover would change from upland pine habitat to commercial or residential development. The acreage recently annexed by the city of Orange Beach is 12 The term “Back Bay area” is used to denote the bay areas linked from the Mobile Bay in the West, through the FLC and to the Gulf of Mexico via Perdido Pass, including but not limited to: Oyster Bay, Wolf Bay, Bay La Launch, Amica Bay, and Bayou St. John. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-44 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 almost exclusively undeveloped, upland pine habitat, and it is reasonable to assume that this area would change in the foreseeable future. Depending on whether socioeconomic trends continue, agricultural and pastoral lands in southern Baldwin County could also be developed. 23 24 25 26 4.14.3 Unavoidable Adverse Impacts The alternatives evaluated in the EIS would result in some adverse environmental impacts beyond that which could be reduced through mitigation. The principle unavoidable adverse impacts on the environment are summarized below. 27 28 29 30 31 32 33 Some loss of scenic attractiveness and scenic integrity would be associated with the implementation of either the Preferred Alternative or Maximum Boat Slip Alternative. Implementing the Maximum Boat Slip Alternative, under which 3,093 boat slips could be permitted, would initially have more visual and aesthetic impact than implementing the Preferred Alternative, under which only 1,943 boat slips could be initially permitted, or the No Action Alternative, under which the upland development of the proposed locations could occur without the proposed marinas. 34 35 36 37 38 39 40 41 42 43 44 45 46 Developing previously undeveloped areas would increase the impervious land cover, which could also result in an increase in nonpoint source pollution of the Back Bay and impact water quality as a result. Potential impacts associated with an increase in nonpoint source pollution (i.e., landscaping activities) include higher concentrations of total phosphorous and total nitrogen, and a decrease in DO. A decrease in the amount of agricultural and pastoral land cover however, could decrease the current runoff amounts of nitrogen and phosphorous into the adjacent water bodies. Thus, it is difficult to determine cumulative impacts on water quality for the foreseeable future. Mitigation measures implemented during and postconstruction, such as the creation of vegetative buffer areas between new developments and water bodies, could help alleviate nonpoint source pollution from newly developed areas. The consumption of groundwater in Baldwin County is currently very high, because of a high irrigation demand for agricultural use near Gulf Shores and Orange Beach. In recent years, the abundant supply of groundwater in this area of the state has slightly declined because of increasing population and economic development in or near Baldwin County. Cumulative impacts of future development and population growth coupled with continued agricultural production could reduce the available groundwater. Lowering the groundwater levels could result in saltwater intrusion, which would further compromise available resources. It could become necessary for Baldwin County to prepare a water resource assessment to adequately plan for the future of this resource. 4.14.3.1 Visual and Aesthetic Resources 4.14.3.2 Recreation The potential density of boats on the FLC – which is related to the number of private and community docks, marina slips, and boat launch ramps on the lake – would be expected to increase under either of the alternatives considered in the EIS. Conflicts between recreational and commercial boaters, navigation difficulties associated with additional docks, and boating accidents could increase in the future. The mitigation measures currently proposed by the cities of Gulf Shores and Orange Beach, to initiate the presence of marine police and expand boater safety courses, could help mitigate any significant adverse impacts. 4.14.3.3 Irreversible or Irretrievable Commitment of Resources Irreversible and irretrievable resource commitments are related to the use of nonrenewable resources and the impacts that use of these resources would have on future generations. Irreversible impacts primarily result from use or destruction of a specific resource (i.e., energy and minerals) that cannot be replaced within a reasonable time frame. Irretrievable resource commitments involve the loss in value of an Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-45 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 affected resource that cannot be restored as a result of a proposed action (i.e., extinction of a threatened or endangered species). No irreversible commitment of resources would be expected to result directly from implementing the Preferred Alternative evaluated in this EIS. Land and natural resources (flora, fauna, water) within the area would be managed with sound stewardship, minimal damage, and a long-term goal of sustainability and the avoidance of irreversibility. A direct action governed by the alternatives, shoreline use permitting, would result in changes to the aesthetics of the FLC. Once private boat docks are permitted and installed along the shoreline, it is practical to assume that they will remain installed indefinitely even with changes in ownership of adjoining private property. This loss of aesthetic value, therefore, would be irretrievable. The loss would be most evident under the Maximum Boat Slip Alternative with the potential permitting of 3,093 boat slips. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 4-46 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 49 5.0 LIST OF REVIEWERS AND PREPARERS LIST OF REVIEWERS Eric Dohner M.S., Marine Science, University of South Florida B.S., Marine Biology, Millersville State College Years of Experience: 25 Paul Wilbur J.D., Wayne State University Law School B.A., English, University of Michigan Years of Experience: 35 LIST OF PREPARERS Michelle Cannella Graduate Studies, Mineral Economics, Pennsylvania State University B.S., Mineral Economics, Pennsylvania University Years of Experience: 12 Marcus Colligan B.S., Environmental Management, Louisiana State University Years of Experience: 2 Dean Goodin, Ph.D. Ph.D., Natural Resources, Louisiana State University B.S., Environmental Management, Louisiana State University Years of Experience: 8 Hope Herron M.NRS, Master of Natural Resource Studies, University of Queensland M.A., International Communication, American University B.A., English Years of Experience: 4 Greg Hippert B.S., Earth Science, University of North Carolina at Charlotte Years of Experience: 15 Timothy Lavallee, P.E. President/Senior Engineer LPES, Inc. MS, Civil and Environmental Engineering, Tufts University BS, Mechanical Engineering, Northeastern University Years of Experience: 16 Katie Magoun B.S., Environmental Management, Louisiana State University Years of Experience: 3 Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 5-1 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 Jamie Miller B.S. Watershed Science, Colorado State University Years of Experience: 8 Sam Pett M.S., Environmental Science, University of Massachusetts-Boston B.S., Wildlife Biology/Zoology, Michigan State University Years of Experience: 15 Benjamin Richard B.S., Wildlife Management, Louisiana State University Years of Experience: 4 Katherine Roxlau M.A., Anthropology, Northern Arizona University B.A., Anthropology, Colorado College Years of Experience: 18 Matt Selhorst M.S., Civil Engineering, Ohio State University M.C.R.P, City and Regional Planning, Ohio State University B.A, Urban Planning, Miami University Years of Experience: 16 Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 5-2 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 6.0 REFERENCES ALBTT (Alabama Bureau of Tourism and Travel). 2006. Economic Impact Alabama Travel Industry. <http://800alabama.com/about-alabama/news/press/Tourism2006Report.pdf>. Accessed July 2007. ACJIC (Alabama Criminal Justice Information Center). 2005. 2005 Crime in Alabama. <http://acjic.state.al.us/SAC/2005_cia.pdf>. Accessed March 2007. ACJIC (Alabama Criminal Justice Information Center). 2006. 2006 Crime in Alabama. <http://www.acjic.alabama.gov/cia/2006_cia.pdf>. Accessed April 2008. ALDAH (Alabama Department of Archives and History). 2007. Alabama History Timeline. <http://www.archives.state.al.us/timeline/al1000.html>. Accessed March 2007. ALDCNR (Alabama Department of Conservation and Natural Resources). 2005. Alabama Comprehensive Wildlife Conservation Strategy. 322 pp. ALDCNR (Alabama Department of Conservation and Natural Resources). 2006. Boating. <http://www.outdooralabama.com/boating>. Accessed November 2006. ALDCNR (Alabama Department of Conservation and Natural Resources). 2007. Fishing. <http://www.outdooralabama.com/fishing>. Accessed March 2007. ADEM (Alabama Department of Environmental Management). 1995. Administrative Code R. 335-8-1.02. Coastal Area Management Program, Mobile, Alabama. ADEM – Coastal Program. ADEM (Alabama Department of Environmental Management). 2000. Administrative Code R. 335-6-10. Water Quality Criteria, Montgomery, Alabama. ADEM – Water Division. ALDIR (Alabama Department of Industrial Relations). 2007. Personal communication with Delia Clenney, 2007 (for 1990 data). <http://www2.dir.state.al.us/LAUS/LAUS.asp>. Accessed February 2007. ADOT (Alabama Department of Transportation). 2008. Alabama Statewide Long Range Transportation Plan. < http://www.dot.state.al.us/NR/rdonlyres/B5802971-FE12-4CDE-BB482682CA453AF4/0/ALDOTSWTPFINAL.pdf> Alabama Genealogy. 2007. Alabama History. <http://www.alabamagenealogy.org/alabama_history.htm>. Accessed on March 2007. AGCCVB (Alabama Gulf Coast Convention & Visitors Bureau). 2007. Area attractions and amenities. <http://www.gulfshores.com>. Accessed March 2007. AGCACC (Alabama Gulf Coast Area Chamber of Commerce). 2006. Demographic Information for the Gulf Coast Area. < http://www.alagulfcoastchamber.com>. Accessed March 2007. AHC (Alabama Historical Commission). 2006. Comment letter regarding the FLC proposed development. Received August 23, 2006. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 6-1 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 49 50 51 AHC (Alabama Historical Commission). 2007. Alabama Register of Landmarks and Heritage. <http://www.preserveala.org/alabamaregister.aspx>. Accessed March 2007. Alabama Historical Commission, Alabama Department of Archives and History, Montgomery, Alabama. AHC (Alabama Historical Commission). 2008. Alabama Historical Commission Administrative Code. <http://www.alabamaadministrativecode.state.al.us/docs/hist/index.html?sm=b_d>. Accessed April 2008. AREREC (Alabama Real Estate Research and Education Center). 2007. <http://arerec.cba.ua.edu/>. Accessed April 2008. ASTM (American Society for Testing and Materials). 2005. Standard Practice for Conducting Environmental Site Assessments: Phase I Environmental Site Assessment Process. Designation E1527-05. Alabama Soil and Water Conservation Committee. 2003. Alabama Handbook for Erosion Control, Sediment Control, and Stormwater Management an Construction Sites and Urban Areas. Montgomery, AL: SWCC. Alabama Tourism Department. 2008. Economic Impact Alabama Travel Industry 2007. Alabama Tourism Department, Montgomery, AL. Arnold, C.L., and C.J. Gibbons. 1996. Impervious Surface Coverage: The Emergence of a Key Environmental Indicator. Journal of the American Planning Association. 62(2):243–259. Axelrod, Alan. 2002. America’s Wars. New York: J. Wiley. Badger, R. Reid and Lawrence A. Clayton, ed. 1985. Alabama and The Borderlands: From Prehistory to Statehood. University of Alabama Press. Baldwin County. 2007. Various Historical Compilations about Baldwin County, Alabama. <http://www.co.baldwin.al.us/PageView.asp?PageType=R&edit_id=156>. Accessed March 2006. Baldwin County Commission. 2008. Baldwin County Comprehensive Plan. <http://www.co.baldwin.al.us/PageView.asp?PageType=R&edit_id=708>. Accessed July 2008. Baldwin County Commission. 2006. Baldwin County Strategic Plan for 2006-2016. <http://www.co.baldwin.al.us/uploads/BaldwinSTPDraft122006.pdf>. Accessed April 2008. Baldwin County Commission. 2008. Baldwin County Commission. <http://www.co.baldwin.al.us/Pageview.asp?edit_id=365>. Accessed May 2008. Baldwin County, Alabama. 2005. The Baldwin County Wetland Conservation Plan. Baldwin County Planning and Zoning Department and U.S. Environmental Protection Agency. BCEDA (Baldwin County Economic Development Alliance). 2007. <http://www.baldwineda.com/news/Nov2006newsletter.htm>. Accessed March 2007. BCEDA (Baldwin County Economic Development Alliance). 2008. <http://www.baldwineda.com/>. Accessed May 2008. BEA (Bureau of Economic Analysis). 2007. State and county economic employment and income data. http://www.bea.gov/regional/reis/. Accessed March 2007. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 6-2 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 49 50 51 BEA (Bureau of Economic Analysis). 2008. State and county economic employment and income data. <http://www.bea.gov/regional/reis/>. Accessed May 2008. BHC (Baptist Health Care). 2007. <http://www.bhcpns.org/BaptistHospital/>. Accessed March 2007. Baumhauer, Charlie. 2008. Email to Carmen Cadenas regarding Baldwin County Sewer Service Capacity. July, 2008. Blankenship, Blanton. 2007. Cultural Resource Manager, Fort Morgan, Gulf Shores, Alabama. Personal communication regarding visitor statistics. July 2007. Brown, Elizabeth Ann. 2005a. Letter to Ms. Louis Oyen of Ecosolutions, Montrose, Alabama. RE: AHC 05-1558, Silver Sands, Baldwin County, AL. Alabama Historical Commission, Alabama Department of Archives and History, Montgomery, Alabama. October 17, 2005. Brown, Elizabeth Ann. 2005b. Letter to Ms. Leslie Turney, Coastal/Facility Section, USACE Mobile District, Mobile, Alabama. RE: AHC 05-0752, MSC-05-12, Waterdance at Oyster Bay, Baldwin County, AL. Alabama Historical Commission, Alabama Department of Archives and History, Montgomery, Alabama. July 21, 2005. Brown, Elizabeth Ann. 2005c. Letter to Mr. Brett Gaar, Volkert & Associates, Mobile, Alabama. RE: AHC 05-1185, Brigham Williams Development, Baldwin County, AL. Alabama Historical Commission, Alabama Department of Archives and History, Montgomery, Alabama. August 4, 2005. BLS (Bureau of Labor Statistics). 2007. <http://www.bls.gov/>. Accessed March 2007. CEQ (Council on Environmental Quality). 1997. Environmental Justice Guidance Under the National Environmental Policy Act. Council on Environmental Quality, Executive Office of the President, Washington, DC. City of Gulf Shores, Alabama. 2004. Envision Gulf Shores Plan. City of Gulf Shores, AL. City of Gulf Shores, Alabama. 2005. Habitat Conservation Plan. 51 pp. City of Orange Beach, Alabama. 2006. Orange Beach Community Preservation and Growth Management Plan. Counts, Mark. 2008. E-mail and Power Point to Hope Herron, Tetra Tech Inc., Baton Rouge, Louisiana. Jack Edwards Airport Master Plan Presentation. September 11, 2008. DCA (Dial Cordy and Associates). 2001. Foley Cut Vessel Capacity Study, Gulf Intracoastal Waterway (GIWW), Baldwin County, Alabama. Prepared for U.S. Army Corps of Engineers, Mobile District, Mobile, Alabama. Prepared by Dial Cordy and Associates Inc., Jacksonville Beach, Florida. September. Duncan, David Ewing. 1995. Hernando de Soto: A Savage Quest in the Americas. New York: Crown Publishers. Ecological Associates. 2002. Coastal Roadway Lighting Manual: A Handbook of Practical Guidelines for Managing Street Lighting to Minimize Impacts to Sea Turtles. <http://myfwc.com/seaturtle/Lighting/Coastal%20Roadway%20Light%20Manual.pdf>. Accessed April 2007. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 6-3 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 49 50 51 FAA (Federal Aviation Administration). 2004. National Environmental Policy Act (NEPA) Implementing Instructions for Airport Projects. Draft Order 5050.4B FHWA (Federal Highway Administration). 2006. Interim Guidance on Air Toxic Analysis in NEPA Documents. February 3, 2006.USEPA (U.S. Environmental Protection Agency). 1993. Determining Conformity of General Federal Actions to State or Federal Implementation Plans. FICON (Federal Interagency Committee on Noise). 1992. Federal Agency Review of Selected Airport Noise Analysis Issues. FICUN (Federal Interagency Committee on Urban Noise). 1980. Guidelines for Considering Noise in Land Use Planning and Control. FMRI (Florida Marine Research Institute). 2000. Understanding, Assessing, and Resolving LightPollution Problems on Sea Turtle Nesting Beaches. Florida Fish and Wildlife Conservation Commission FMRI Technical Report TR-2. Foster, Mike. 2007. Personal Communication on Offshore Powerboat Races in Orange Beach, VP Marketing, Alabama Gulf Coast CVB. July 2007. Gabel, Christopher R., 2002. Rails to Oblivion: The Battle of Confederate Railroads in the Civil War. Fort Leavenworth, Kan.: U.S. Army Command and General Staff College Press. Genealogy Inc. 2007. Alabama State History. <http://www.myalabamagenealogy.com/al_state/history.htm>. Accessed March 2007. Griffith, G.E., Omernik, J.M., Comstock, J.A., Lawrence, S., Martin, G., Goddard, A., Hulcher, V.J., and Foster, T., 2001. Ecoregions of Alabama and Georgia (color poster with map, descriptive text, summary tables, and photographs): Reston, Virginia, U.S. Geological Survey (map scale 1:1,700,000). GSFM (Gulf Shores Fire and Rescue) 2007. Personal Communication with Fire Marshall. February 2007. Gulf Shores Chamber of Commerce. 2007. Personal Communication with Special Events Coordinator. Economic Impacts of Shrimp Festival. July 2007. Gulf Shores Fire Rescue (GSFR), 2007. Information and data. <http://www.ci.gulf-shores.al.us/FD/FD%20Staff.htm>. Accessed March 2007. GSGA (Gulf Shores Golf Association). 2007. Information regarding area golfing and courses. <http://www.golfgulfshores.com/>. Accessed March 2007. GSPD (Gulf Shores, Alabama, Police Department), 2007. Information and data. <http://www.cityofgulfshores.org/pages_2006/police_dept/policedepartment.htm>. Accessed March 2007. Harris, Cecil M. 1998. Handbook of Acoustical Measurement and Noise Control. Homeport Marina. 2006. Homeport Marina’s Amenities. http://homeportmarina.net/. Accessed November 2006. InfoMap (InfoMap Technologies, Inc.). 2006. Environmental FirstSearch Report. Job nos. 36542 and 36561. InfoMap Technologies, Inc., West Chester, Pennsylvania. November 2006. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 6-4 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 Institute of Transportation Engineers. 2003. Trip Generation Manual, 7th Edition. Jordan, Jones, & Goulding. 2005. Plash Island/Bon Secour River land Use Study. <http://www.cityofgulfshores.org/pages_2006/projects/Final%20Plash%20Island_Bon%20Secour%20Ri ver%20Study%2004%2012%202005.pdf>. Accessed April 2008. KPS Group. 2008. Gulf Shores, Alabama Land Use Plan. <http://www.cityofgulfshores.org/pages_2006/CDD/Land%20Use%20Plan%20Hearing%20Draft%2008 0107.pdf>. Accessed April 2008. Lohmann, K.L., B.E. Witherington, C.M.F. Lohmannn, and M. Salmon. 1997. Orientation, navigation and natal beach homing in sea turtles. Pages 107-136 in Lutz, P.L., and J.A. Musick (eds.), The Biology of Sea Turtles. CRC Press. Longcore, T. and C. Rich. 2004. Ecological Light Pollution. Frontiers in Ecology and the Environment. 2(4): 191-198. MIMC (Mobile Infirmary Medical Center). 2007. <http://www.mimc.com>. Accessed March 2007. Mississippi Department of Wildlife, Fisheries, and Parks. 2005. Mississippi Comprehensive Wildlife Conservation Strategy. 418 pp. National Park Service. 2006. National Historic Landmarks Survey, List of National Historic Landmarks by State. U.S. Department of the Interior, National Park Service, Washington, D.C. December 2006. National Park Service. 2007. National Register Information System, Index by State County. <http://www.nr.nps.gov/iwisapi/explorer.dll/x2_3anr4_3aNRIS1/script/report.iws>. Accessed March 2007. U.S. Department of the Interior, National Park Service, Washington, D.C. Neubauer, John A. Colonel (Ret.). 2006. Letter to District Engineer, USACE Mobile District, Mobile, Alabama. RE: AHC 2006-1335; Foley Land Cut Proposed Developments, EIS for 13 Developments along GIWW, Baldwin County. Alabama Historical Commission, Alabama Department of Archives and History, Montgomery, Alabama. October 24, 2006. Nicholas, M. 2001. Light Pollution and Marine Turtle Hatchlings: The Straw that Breaks the Camel’s Back? The George Wright Forum. 18(4): 77-82. Noles, J. 2001. Light Pollution and Boating Safety. <http://www.darkskies4ni.co.uk/LP_Boating.ppt>. Accessed October 2006. NBI (North Baldwin Infirmary). 2007. <http://www.nbinfirmary.com>. Accessed March 2007. OBFR (Orange Beach Fire Rescue). 2007. <http://www.obfd.org/pages/index.htm?source=velvetillusion>. Accessed March 2007. Pendoley, K.L. 2005. Sea turtles and the environmental management of industrial activities in north-west Western Australia. Ph.D. Thesis, Murdoch University: Perth, Australia. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 6-5 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 PWIA (Personal Watercraft Industry Association). 2008. Personal Watercraft vs. Open Exhaust Boat Passby Sound Level Measurement for Various Types of Boats Website. URL: <http://www.pwia.org/studies/sound/comparisons.aspx> Accessed July 24, 2008. SARPC (South Alabama Regional Planning Commission). 1993. Baldwin County Long Range Development and Management Plan, Situation Analysis. April 1993. SARPC (South Alabama Regional Planning Commission). 2001. South Alabama Gulf Ecological Management Sites (GEMS). <http://www.sarpc.org/gems/index.html>. Accessed July 2006. SARPC (South Alabama Regional Planning Commission). 2006. City of Gulf Shores Zoning Map. SBRMC (South Baldwin Regional Medical Center). 2007. <http://www.southbaldwinrmc.com>. Accessed March 2007. Stowe, Noel R., and Rebecca Stowe. 2005a. A Phase I Cultural Resources Assessment of the Proposed Silver Sands Development in Southern Baldwin County, Alabama. Archaeological Services Inc., Lucedale, Mississippi. September 2005. Stowe, Noel R., and Rebecca Stowe. 2005b. A Phase I Cultural Resources Assessment of the Proposed Waterdance (Areas 4 and 5) Development, Baldwin County, Alabama, COE Application AL-05-00586-J. Archaeological Services Inc., Lucedale, Mississippi. April 2005. Stowe, Noel R., and Rebecca Stowe. 2006. A Phase I Cultural Resources Assessment of the Proposed Coastal Resort Properties, Inc. Development in Baldwin County, Alabama. Archaeological Services Inc., Lucedale, Mississippi. December 2006. 27 28 SAI (Systems Applications International, LLC). 2005. Gulf Coast Ozone Study (GCOS) Modeling Analysis Phase III: Additional Future-Year Assessments - Final Report 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 49 Taylor Engineering. 2006. Waterway Capacity Study for the Foley Land Cut Section of the Gulf Intracoastal Waterway (GIWW) between Mobile Bay and Wolf Bay. Prepared for Tetra Tech, Inc. Tetra Tech, Inc. 1984. Water Quality Modeling Study, Intracoastal Waterway, Baldwin County, Alabama: Arlington, Virginia. Thomas Hospital. 2007. <http://www.thomashospital.com/>. Accessed March 2007. University of Alabama. 2007. Alabama Archaeology: Prehistoric Alabama. <http://bama.ua.edu/~alaarch/prehistoricalabama/index.htm>. Accessed March 2007. University of Alabama, Tuscaloosa, Alabama. USACE (U.S. Army Corps of Engineers). 1983. History of the Gulf Intracoastal Waterway. National Waterways Study 83-9. U.S. Army Corps of Engineers, Water Resources Support Center, Institute for Water Resources, Alexandria, Virginia. January 1983. USACE (U.S. Army Corps of Engineers). 1987. Corps of Engineers Wetland Delineation Manual. Technical Report Y-87-1, U.S. Army Corps of Engineers Waterways Experiment Station, Vicksburg, MS. USBC (U.S. Bureau of the Census). 1990. Census of Population and Housing, 1990. <http://www.census.gov/>. Accessed March 2007. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 6-6 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 49 50 USBC (U.S. Bureau of the Census). 1995. Alabama Population of Counties by Decennial Census: 1900 to 1990, compiled and edited by Richard L. Forstall. <http://www.census.gov/population/cencounts/al190090.txt>. Accessed March 2007. USBC (U.S. Bureau of the Census). 2000a. County and City Data Book, 2000. Table B1, Area and Population. <http://www.census.gov/prod/www/ccdb.html>. Accessed March 2007. USBC (U.S. Bureau of the Census). 2000b. Census of Population and Housing, 2000. <http://www.census.gov/>. Accessed March 2007. USBC (U.S. Bureau of the Census). 2000c. <http://www.census.gov/hhes/www/poverty/threshld.html>. Accessed March 2007. USBC (U.S. Bureau of the Census). 2005. Historical data. <http://www.census.gov/hhes/www/income/histinc/county/county3.html>. Accessed March 2007. USBC and UA (U.S. Bureau of the Census and Center for Business and Economic Research, The University of Alabama). 2001a. Alabama County Population 2000 and Projections 2005-2025. <http://cber.cba.ua.edu/edata/est_prj/alpop20002025.xls>. Accessed March 2007. USBC and UA (U.S. Bureau of the Census and Center for Business and Economic Research, The University of Alabama). 2001b. Alabama County Population 65 and Over in 2000 and Projections 20052025. <http://cber.cba.ua.edu/edata/est_prj/alpop65+0025.xls>. Accessed March 2007. United States Department of Agriculture, Natural Resources Conservation Service. 1964. Baldwin County, Alabama Soil Survey. USDOE (U.S. Department of Education, National Center for Education Statistics). 2007. Public School Data. <http://nces.ed.gov/>. Accessed March 2007. USEPA (U.S. Environmental Protection Agency). 1974. Information on Levels of Environmental Noise Requisite to Protect Public Health and Welfare with an Adequate Margin of Safety. USEPA (U.S. Environmental Protection Agency). 1985. Coastal Marinas Assessment Handbook. EPA 90416-85/132. USEPA (U.S. Environmental Protection Agency). 1993a. Determining Conformity of General Federal Actions to State or Federal Implementation Plans. USEPA (U.S. Environmental Protection Agency). 1993b. Managing Measures for Sources of Nonpoint Source Pollution in Coastal Waters. U.S. Environmental Protection Agency. <http://www.epa.gov/OWOW/NPS/MMGI/Chapter5/index.html>. Accessed July 2008 USEPA (U.S. Environmental Protection Agency). 2001. National Management Measures Guidance to Control Nonpoint Source Pollution from Marinas and Recreational Boating. Nonpoint Source Control Branch, Office of Wetlands, Oceans and Watersheds, Office of Water. EPA 841-B-01-005. USEPA (U.S. Environmental Protection Agency). 2003. Draft Delisting Decision for Intracoastal Waterway Waterbody ID# AL/03160205-070_01 and AL/03140107-040_01 Organic Enrichment/Dissolved Oxygen. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 6-7 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 49 USEPA (U.S. Environmental Protection Agency). 2004. Overview of EPA’s Emission Standards for Marine Engines. EPA420-F-04-03. August 2004. USEPA (U.S. Environmental Protection Agency). 2006a. AirData Website. <http://www.epa.gov/air/data/geosel.html>. Accessed October 2006. USEPA (U.S. Environmental Protection Agency). 2006b. Criteria Air Pollutants Website. <http://www.epa.gov/air/urbanair/6poll.html>. Accessed October 2006. USEPA (U.S. Environmental Protection Agency). 2007. Inventory of US Greenhouse Gas Emissions and Sinks: 1990–2005. EPA 430-R-07-002. April 15. USEPA (U.S. Environmental Protection Agency). 2008. Transportation Conformity Final Rule: PM2.5 and PM10 Hot-Spot Analyses in Project-Level Transportation Conformity Determinations for the PM2.5 and PM10 National Ambient Air Quality Standards. February 2008. United States Fish and Wildlife Service. 2001. ESA Basics: Over 25 Years of Protecting Endangered Species. <http://endangered.fws.gov/pubs/esa%20basics.pdf>. Accessed April 2007. USGS (U.S. Geological Survey). 1990. GROUND WATER ATLAS of the UNITED STATES. Alabama, Florida, Georgia, and South Carolina. Chapter HA 730-G USGS (U.S. Geological Survey). 1994. Ground Water Atlas of the United States. <http://capp.water.usgs.gov/gwa/>. Accessed June 2006. USGS (U.S. Geological Survey). National Elevation Dataset for Baldwin County Alabama. <http://seamless.usgs.gov>. Accessed June 2006. USGS (U.S. Geological Survey). 2001. 2001 National Land Cover Dataset for Baldwin County Alabama. <http://seamless.usgs.gov>. Accessed June 2006. USGS (U.S. Geological Survey). 2005. USGS Programs in Alabama. <http://water.usgs.gov/wid/html/al.html#2.3>. Accessed October 2008. USGS (U.S. Geological Survey). 2008. South Baldwin County Aquifer. <http://waterdata.usgs.gov/nwis/nwisman/?site_no=302416087505501&agency_cd=USGS>. Accessed October 2008. Urban Land Institute. 2007. Proceedings of the Developing Resort, Second Home, and Golf Course Communities Annual Conference, Tampa, Florida. March 14-15, 2007. Walthall, J.A. 1980. Prehistoric Indians of the Southeast: Archaeology of Alabama and the Middle South. University of Alabama Press, University, Alabama. Weaver, Michael E., and Connie K. Williams, 2006. A Report Regarding an Independent School District for the Cities of Gulf Shores and Orange Beach, Alabama. Prepared by Michael E. Weaver, Financial Consultant, and Dr. Connie K. Williams, Educational Consultant. Prepared for Mayors, City Councils, and School Boards of the Cities of Gulf Shores and Orange Beach. Dec 2006. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 6-8 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 Witherington, B.E., and R.E. Martin. 1996. Understanding, assessing, and resolving light-pollution problems on sea turtle nesting beaches. FMRI Technical Report TR-2, Florida Marine Research Institute, St. Petersburg, Florida. Witherington, B.E. 1997. The problem of photopollution for sea turtles and other nocturnal animals. In Clemmons, J.R., and R. Buchholz (eds.), Behavioral Approaches to Conservation in the Wild. Cambridge University Press, Cambridge England. Wofford, Lee Anne. 2007. Email to Ms. Hope Herron, Tetra Tech Inc., Baton Rouge, Louisiana. RE: Info Request. Alabama Historical Commission, Alabama Department of the Archives and History, Montgomery, Alabama. March 12, 2007. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 6-9 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 7.0 PERSONS CONSULTED Baumhauer, Charlie. Baldwin County Sewer Service. July 2008. Blankenship, Blanton. Fort Morgan State Historic Site. July 2007. Campbell, Ryan. Baldwin Electric Membership Cooperative (Baldwin EMC). July 2008. Clarke-Mobile Counties Gas District (CMC Gas). October 2008. Clenney, Delia. Alabama Department of Industrial Relations (ALDIR). February 2007. City of Gulf Shores, Chamber of Commerce. July 2007. Counts, Mark. BWSC. September 2008. Davis, Lee. Alabama Department of Environmental Management. July 2008. Former, Tim. BFI Allied. July 2008. Foster, Mike. Alabama Gulf Coast CVB. July 2007. Fire Marshall, GSFM (Gulf Shores Fire and Rescue). February 2007. Gulf State Park Administration. July 2007. Harrison, Dennis. Drinking Water Branch Public Water Supply Branch. October 2008. Johnson, Clifford. City of Gulf Shores Water & Wastewater Systems. July 2008. Jones, Azura. Alabama Department of Environmental Management. July 2008. Lee, Debra. BFI Allied. July 2008. McMelan, Gary. City of Orange Beach Wastewater System. October 2008. Natural Gas Utility. October 2008. Peterson, David. City of Gulf Shores Water & Wastewater Systems. July 2008. Shejan, Allen. Alabama Department of Environmental Management. July 2008. Sullivan, Judy. Orange Beach Water Authority. July 2008. Wade, John. City of Gulf Shores Water & Wastewater Systems. July 2008. Waste Management. July 2008. Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 7-1 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 49 8.0 DISTRIBUTION LIST COOPERATING AGENCIES Mr. Duncan Powell Environmental Protection Agency Region 4 61 Forsyth Street, SW Atlanta, GA 30303-3104 404-562-9626 Mr. Sam Hamilton Regional Director U.S. Fish & Wildlife Service 1875 Century Boulevard Atlanta, GA 30345 cc: Ms. Elaine Snyder-Conn U.S. Fish and Wildlife Service 1208-B Main Street Daphne, AL 36526 251-441-5181 251-441-6222 FAX Mr. Roy E. Crabtree National Marine Fisheries Service Protected Resources Division 263 13th Avenue South St. Petersburg, FL 33701 cc: Mr. Mark Thompson National Marine Fisheries Service 3500 Delwood Beach Rd. Panama City, FL 32408 850-234-5061 Mr. Bruce Baughman Alabama Emergency Management Agency P.O. Drawer 2160 5898 County Road 41 Clanton, AL 35046-2160 U.S. Coast Guard Commanding Officer Sector Mobile Brookley Complex, Building 102 South Broad Street Mobile, AL 36615-1309 Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 8-1 Draft Environmental Impact Statement 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 LT John Mangum U.S. Coast Guard Sector Mobile Brookley Complex, Building 102 South Broad Street Mobile, AL 36615-1309 Ms. Alfedo Acoff Alabama Department of Transportation 1409 Coliseum Blvd. Montgomery, AL 36130-3050 Mr. Scott Brown Alabama Department of Environmental Management Coastal Facilities Section – Mobile Branch 4171 Commanders Drive Mobile, AL 36615 Ms. Elizabeth Ann Brown State Historic Preservation Officer Alabama Historical Commission 468 South Perry Street Montgomery, AL 36130-0900 Mr. Phillip Hinesley Alabama Department of Conservation and Natural Resources Coastal Programs 23210 U.S. Highway 98 Stonebrook Executive Complex Suite B-1 Fairhope, AL 36532 Mr. M. Barnett Lawley Commissioner Alabama Department of Conservation and Natural Resources 64 N. Union Street Montgomery, AL 36130 Mr. Vernon Menton Alabama Department of Conservation and Natural Resources Marine Resources Division P.O. Box 189 Dauphin Island, AL 3652 Foley Land Cut, Gulf Intracoastal Waterway, AL February 2009 8-2