oyster bay resort development - Environmental Law Alliance
Transcription
oyster bay resort development - Environmental Law Alliance
ENVIRONMENTAL IMPACT ASSESSMENT OYSTER BAY RESORT DEVELOPMENT FALMOUTH, TRELAWNY, JAMAICA Submitted to Glyne Falmouth Arkin Ltd. 259 Spanish Town Road Kingston 11 Jamaica Prepared by Environmental Solutions Ltd. 20 West Kings House Road Kingston 10 Jamaica JANUARY 2005 Oyster Bay EIA FRONTISPIECE. AERIAL VIEW OF FLORIDA & BUSH CAY LANDS, TRELAWNY (photograph by J. Tyndale-Biscoe) Environmental Solutions Ltd. a. Oyster Bay EIA TABLE OF CONTENTS TABLE OF CONTENTS ..........................................................................................i 1.0 INTRODUCTION..........................................................................................1 1.1 PURPOSE ................................................................................................1 1.2 BACKGROUND ........................................................................................1 1.2.1 The Location......................................................................................3 1.2.2 The Site .............................................................................................4 1.2.3 The Concept ......................................................................................5 1.2.4 Long Term Vision for the Site ............................................................5 1.3 TERMS OF REFERENCE ........................................................................7 1.4 STUDY TEAM ........................................................................................11 1.5 METHODOLOGY AND APPROACH......................................................12 1.5.1 General Approach ...........................................................................12 1.5.2 Physical Environment ..........................................................................13 1.5.3 Biological Environment ....................................................................16 1.5.4 Socio-economic Environment ..........................................................18 2. PROJECT DESCRIPTION ............................................................................19 2.1 DESIGN AND LAYOUT ..........................................................................19 2.2 CONSTRUCTION SCHEDULE AND METHODOLOGY.........................25 2.2.1 Phasing ...........................................................................................25 2.2.2 Piling................................................................................................25 2.2.3 Mangrove Protection .......................................................................25 2.2.4 Building Construction Method .............................................................26 2.3 OPERATIONS ........................................................................................26 2.3.1 Utilities .............................................................................................26 2.3.2 Solid Waste Management ...............................................................26 2.3.3 Sewage treatment and effluent disposal..........................................26 3. LEGISLATIVE AND REGULATORY CONSIDERATIONS .............................30 3.1 PERMITTING ASPECTS........................................................................30 3.2 NATIONAL LEGISLATION – NATURAL ENVIRONMENT .....................30 3.2.1 Natural Resources Conservation Act (1991)........................................30 3.2.2 Environmental Review and Permitting Process (1997)....................30 3.2.3 Wildlife Protection Act (1945) ..........................................................31 3.2.4 The Endangered Species (Protection, Conservation and Regulation of Trade) Act (1999)...........................................................................................31 3.2.5 The Natural Resources (Prescribed Areas)(Prohibition of Categories of Enterprise, Construction and Development) Order (1996).........................31 3.2.6 Water Resources Act (1995) ...........................................................32 3.2.7 Country Fires Act (1942) .................................................................33 3.2.8 Quarries Control Act (1983).............................................................33 Environmental Solutions Ltd. i Oyster Bay EIA 3.2.9 The Pesticides (Amendment) Act (1996).........................................34 3.2.10 Air Quality Standards.......................................................................35 3.2.11 Noise Standards ..............................................................................35 3.2.12 Water Quality NRCA Act (1990) ......................................................35 3.2.13 The Beach Control Authority (Licensing) Regulations (1956) ..........37 3.3 NATIONAL LEGISLATION – SOCIAL ENVIRONMENT.........................37 3.3.1 Town and Country Planning Act (1958)...........................................37 3.3.2 Land Development and Utilization Act (1966) .................................38 3.3.3 The National Solid Waste Management Authority Act (2001)..........39 3.3.4 Jamaica National Heritage Trust Act (1985) ....................................39 3.3.5 Land Acquisition Act (1947).............................................................40 3.3.6 Registration of Titles Act (1989) ......................................................41 3.4 INTERNATIONAL LEGISLATIVE AND REGULATORY CONSIDERATIONS ..........................................................................................................................41 3.4.1 Cartagena Convention (Convention for the Protection and Development of the Marine Environment of the Wider Caribbean Region) (1983) ........................................................................................................41 3.4.2 Biodiversity Convention ...................................................................42 4. DESCRIPTION OF STUDY AREA ................................................................44 4.1 TOPOGRAPHY AND DRAINAGE ..........................................................44 4.2 CLIMATE ................................................................................................46 4.3 GEOLOGY..............................................................................................46 4.4 OCEANOGRAPHY .................................................................................47 4.4.1 Bathymetry ......................................................................................47 4.4.2 Currents and Waves........................................................................48 4.4.3 Beach Stability.................................................................................50 4.5 TERRESTRIAL ECOLOGY ....................................................................51 4.5.1 Flora ................................................................................................51 4.5.2 Fauna....................................................................................................56 4.6 Coastal and Marine Ecosystems ............................................................61 4.6.1 Fore Reef ........................................................................................63 4.6.2 Back Reef ........................................................................................65 4.6.3 Oyster Bay ............................................................................................66 4.7 MARINE WATER QUALITY ...................................................................68 4.8 NATURAL HAZARD VULNERABILITY ..................................................75 4.8.1 Hurricane storm surge, high velocity wind and tsunami...................75 4.8.2 Seismicity ........................................................................................77 4.9 SOCIO-ECONOMIC ENVIRONMENT.......................................................79 4.9.1 The Tourism Context of The Project................................................79 4.10 THE COMMUNITIES AROUND THE PROJECT...................................80 4.10.1 COOPERS PEN .............................................................................81 4.10.2 ROCK .............................................................................................85 4.10.3 HAGUE...........................................................................................88 Environmental Solutions Ltd. ii Oyster Bay EIA 4.10.4 4.10.5 MARTHA BRAE..............................................................................91 FALMOUTH....................................................................................94 5.0 POTENTIAL IMPACTS AND MITIGATIONS MEASURES ............................99 5.1 ANALYSIS OF IMPACTS .......................................................................99 5.2 6.0 CUMULATIVE IMPACTS......................................................................127 CONSIDERATION OF ALTERNATIVES.................................................129 7. OUTLINE ENVIRONMENTAL IMPACT MONITORING PLAN ....................130 7.1 MONITORING PROGRAMME..............................................................130 REFERENCES ...................................................................................................131 APPENDICES.....................................................................................................133 APPENDIX I: SMITH WARNER INTERNATIONAL LTD. REPORT ................134 APPENDIX II: ESL MARTHA BRAE DATA (ESL 2003)...................................135 APPENDIX III: HISTORICAL WATER QUALITY DATA (WEBBER ET AL 1995) 136 APPENDIX IV: BIOLOGICAL DATA...............................................................137 APPENDIX V: PLATES .....................................................................................143 APPENDIX VI: ENVIRONMENTAL PLANNING AND DESIGN GUIDELINES ........................................................................................................................150 Environmental Solutions Ltd. iii Oyster Bay EIA 1.0 INTRODUCTION 1.1 PURPOSE This document presents the findings of an Environmental Impact Assessment (EIA) of the proposed coastal resort to be constructed on the Florida/Bush Cay lands in Trelawny, Jamaica. Resort developments of this nature are included on the list of prescribed activities under the 1991 Natural Resources Conservation Authority Act (NRCA) that require an application for permission to develop. The National Environmental Planning Agency (NEPA), which administers the NRCAA, has requested that an Environmental Impact Assessment (EIA) be conducted for this project as a requirement for obtaining a permit to implement. Environmental Solutions Limited (ESL) has been engaged by Glyne Falmouth Arkin Limited the developers, to prepare the EIA and to provide assistance in other related activities. The Terms of Reference for the EIA are provided at Section 1.3 below. 1.2 BACKGROUND The development of a high quality, environmentally sustainable green resort development to be located on lands known as Bush Cay and Florida Cay in Falmouth Trelawny. (Figure1.1) 1 Environmental Solutions Ltd. Oyster Bay EIA The major project goals include: • Formulation of a conceptual sustainable land use plan for the project that meets economic objectives and considers creative planning alternatives. • Formulation of a business strategy that will engage strategic partners/ operators. • Documenting the strategy for solicitation of strategic partners/ operators. • Development of a partnership with the English Heritage Trust to encourage the conservation of Georgian Architecture of Falmouth, the largest Georgian architecture settlement in the Western Hemisphere. In addition, the development of eco-tourism along the Martha Brae River and in the Cockpit Mountains will be explored. 2 Environmental Solutions Ltd. Oyster Bay EIA 1.2.1 The Location Falmouth, Trelawny lies on the northwestern coast of the island and is bordered on the west by St. James, on the east by St. Ann and by St. Elizabeth and Manchester on the south. Spanning an area of just over 874 square kilometers, the parish was formed from the eastern part of St. James in 1770 and has its place in Jamaican history as being the parish with the most sugar estates and factories. The parish is approximately 35 kilometers from the Donald Sangster International Airport in Montego Bay. Falmouth the capital town of Trelawny, played an important part of Jamaica’s history. The town served as the exit point for sugar and the landing point for many essential goods needed by the estates of the interior and was considered the busiest port on the north coast. During the period when the sugar industry was thriving, the town prospered and supported many businesses including more than one weekly newspaper. With the advent of steamships and the decline of the sugar industry however, the town of Falmouth began to deteriorate and, to date has not been able to re-capture its former glory days. Falmouth was laid out in the late 1700s as a model Georgian town deserving of international recognition. Today, Falmouth is considered a sleepy and quiet town but its rich cultural heritage is clearly reflected in the remarkable remnants of Georgian architecture in the town. Isolated from the rapid development that has affected other tourist towns along the North Coast, the town of Falmouth has maintained most of its cultural and historical integrity. Relatively untouched by tourism activity, the parish only has a few major resorts including – Starfish, Falmouth Resort, Grand Lido, Braco, Glistening Waters Inn, Martha Brae Resort and FDR Pebbles. Due to its distinctive history, Falmouth has been targeted for restoration by Tourism Action Plan (TAP), a USAID funded initiative. There are several major initiatives being implemented aimed at developing the town of Falmouth as a historic centre for eco-tourism/heritage 3 Environmental Solutions Ltd. Oyster Bay EIA within the parish. These initiatives include the expansion of the rafting activities along the Martha Brae River as well as the development of a crocodile farm. 1.2.2 The Site The property is situated on a private peninsula of approximately 220 acres enclosing Oyster Bay, a phosphorescent lagoon and tourist attraction on the north coast of Jamaica, and forms part of the eastern arm of Falmouth Bay. The site boundary extends immediately west of the Starfish and FDR Pebbles Hotels to the Glistening Waters Motel, 2 miles east of Falmouth, the capital township of the parish of Trelawny. Mangroves occupy the southern side of the site, which plays an integral role in the ecology of the Martha Brae estuary, and is included in the list of Jamaica’s major wetlands. The northern side faces the Caribbean Sea and an extensive and almost continuous fringing of coral reefs lies offshore. The tip of the peninsula offers a unique vista of Falmouth. The site represents the largest remaining stretch of pristine white sand beach in the island, which is geographically and physically unique to Jamaica and meanders without interruption for over 3 ½ miles. The site features the following attractions: • Bioluminescent waters (once known as one of the most brilliant bioluminescent bays in the world) • A protected natural harbour/ marina • 3.5 miles of pristine, white sand beach • A protective reef offering excellent snorkeling and scuba diving • Unpolluted waters • Approximately 60% covered in mangroves providing excellent opportunities for eco-tours. • The Martha Brae River • Natural flora and wildlife (birds) of ecological interest 4 Environmental Solutions Ltd. Oyster Bay EIA • Un-scarred surrounding tracts of land and hills • A relatively unscathed economic and social environment • The architectural and culturally historic township of Falmouth. 1.2.3 The Concept The developers are aware of their responsibility for ensuring a truly sustainable, environmentally sound, green resort development and have adopted an approach to development which will be informed by an environmental feasibility study that will guide the planning and implementation process. Green hotel development criteria parameters will be established for the site. They will help guide the architectural design, construction methodology and operational needs for the area. They will help minimize damage and ensure that resources saving devices and appropriate waste management practices are incorporated in the operation and maintenance of the resort. 1.2.4 Long Term Vision for the Site Preliminary Site Plans and Building Designs have been drawn by Kay-Quinton Architects. The development is still in an embryonic stage however and, as a result, the concept is expected to change once the feasibility studies have been completed. The Government Town Planner and the Eco-Engineering Pre-Design Report have indicated potential density of 2500 persons for property. However, the intention is to arrive at a viable site development density based on sustainable, green parameters as part of the feasibility study. As a result, the conceptual designs include three hotels, holiday villas/ timeshare development, apartments (leaseable cluster units), two marinas, a commercial complex, an equestrian center, nature trails, a health & sports complex, and the necessary support elements. 5 Environmental Solutions Ltd. Oyster Bay EIA The Resort will also feature a nature park. This park will include a bird sanctuary and bird watching sites, aquatic life displays, educational walking tours of mangrove habitats and since the site hosts a large butterfly population, a butterfly sanctuary and exhibit. A central feature of the resort layout will be the protection of the mangrove wetlands bordering the site. Hotel construction will therefore be restricted to the northern shore of the peninsula such that there will be minimal intrusion on the mangrove ecosystem. In order to conform to the availability of hard land, the hotel on the peninsula will be laid out in a linear fashion along the northern coast. The developers do not envision creating an all-inclusive, reclusive type of environment for its guests. Rather, the resort development will take advantage of the rich history and culture of the town, catering to the eco-heritage tourist, and all it has to offer vis-à-vis food, shopping and other services. This is expected to benefit the residents of the neighboring local communities by providing indirect employment and improving the general economic condition of the communities. A total green approach, from design development through to operation of all facilities on the site will be pursued. The implementation of this project is expected to stimulate significant additional development in the parish of Trelawny, leading to the restoration of important historic sites in Falmouth. Given the positive implication for the parish, the sponsor is seeking grant- funding equivalent to fifty percent (50%) of the preimplementation project budget. These funds will be matched by the sponsor, from his own resources. 6 Environmental Solutions Ltd. Oyster Bay EIA 1.3 TERMS OF REFERENCE The Terms of Reference for the Environmental Impact Assessment of the proposed Oyster Bay Resort Development are provided below. These have been adapted from World Bank guidelines and take account of the contents of the draft TOR provided by NEPA in their letter of 9 July 2004. 1. Introduction - Identify the development project to be assessed and explain the executing arrangements for the environmental assessment. 2. Background Information - Briefly describe the major components of the proposed project, the implementing agents, and include a brief history of the project and its current status. 3. Study Area - Specify the boundaries of the study area for the assessment as well as any adjacent or remote areas within the area of influence of the project. 4. EIA Team – Identify the individuals responsible for collecting the data and carrying out the impact assessment and their respective skills.. 5. Scope of Work - The following tasks are to be undertaken: Task 1. Description of the Proposed Project - Provide a full description of the overall project (four hotels built in two phases) and its existing setting using plans, maps and graphic aids at appropriate scales. This is to include: hotel locations; general layout (size, capacity, etc.); areas slated for development, mangrove protection and mangrove resuscitation; preconstruction and construction activities; construction methodology (buildings, piling, etc.), site management, operation and maintenance activities; project life spans; plans for providing utilities, waste disposal and other necessary services; and employment. Specific attention is to be given to the proposed means of sewage treatment, level of treatment and effluent disposal. Task 2. Description of the Environment - Describe the physical, ecological, demographic, socio-cultural and institutional setting of the project. Review and present information that provides an insight into previously existing conditions of the site and the influences of past development initiatives. Assemble, evaluate and present baseline data on the relevant environmental characteristics of the study area, including the following: 7 Environmental Solutions Ltd. Oyster Bay EIA a) Physical environment: peninsular and coastal mainland and estuarine features; topography; geology; soils; climate and meteorology; ambient noise (at site and in area of influence); hydrology; drainage and storm water runoff; inshore water current patterns; shoreline structure, stability, and nature of land accretion; and marine water quality1. Any existing sources of pollution and the extent of contamination relevant to the project area are to be identified. The natural hazard vulnerability of the site is also to be considered, particularly with respect to hurricanes and storm surge. b) Biological environment: flora and fauna of the terrestrial, mangrove, sea grass, and coral reef ecosystems on and adjacent to the project site as well as the ecology of Oyster Bay2. Specify rare or endangered species, species of commercial importance, and species with potential to become vectors or nuisances. c) Socio-cultural environment: present and projected population size, land use, community structure, issues related to squatting and relocation, current development plans, recreation and public health, public and community perceptions and attitudes on the proposed project, and any historical sites affected by the project. Identify the solid waste management facilities to be used by the project and assess public perception of the proposed development. Task 3. Legislative and Regulatory Considerations - Describe the pertinent environmental laws, regulations and standards governing coastal structures, land use control, environmental quality, health and safety, protection of mangroves and other sensitive areas, protection of endangered species, and tourism facilities. Particular reference is to be made to the Town and Country Planning (Trelawny Parish) Provisional Development Order, 1980, and to the Tree Preservation (Bush Cay, Trelawny)(Revocation) Order, 2004. Task 4. Determination of Potential Impacts – Identify the major issues of environmental concern and indicate their relative importance to the design of the project. Distinguish long-term and short-term impacts, construction and post-construction phase impacts, positive and negative impacts, and direct and indirect impacts. Identify the significant impacts and those that are cumulative, unavoidable or irreversible. Identify impacts through use of a matrix arraying the project activities against relevant environmental factors. Given the physical and ecological sensitivity of the proposed development site, conduct a comprehensive analysis of the overall master plan in the 1 2 Parameters to include: BOD, TSS, NO3, PO4, and faecal coliforms. Full reference is to be made to a recent post-graduate study of the dinoflagellates in Oyster Bay. 8 Environmental Solutions Ltd. Oyster Bay EIA first instance to consider the more strategic environmental issues (e.g. long-term peninsula shoreline stability, mangrove protection, maintenance of the bioluminescent dinoflagellates in Oyster Bay, sewage treatment, etc.). and followed by attention to mitigation of the short-term impacts related to the construction works for each of the four hotels. a) b) Master Plan impact assessment: • Vegetation clearance, especially mangrove habitat disturbance, related to site clearance, road construction, placement of buildings and services installation. • Impact of proposed site layout on existing flora, fauna and coastal resources, habitats to be protected, areas to be replanted, and landscaping. • Modification of existing drainage patterns and surface runoff during construction and post-construction phases, particularly with reference to the hydrography of the fringing mangroves and discharges to Oyster Bay. • Modification of long-shore sediment transport processes due to construction of piers for ‘above-water rooms’. • Potable water supply, demand and resource depletion. • Waste water treatment, use, disposal and management. • Solid waste management during construction and postconstruction phases. • Socioeconomic conditions, effects on existing users of the coastal areas, infringement on rights of stakeholders, community involvement and public perceptions of the project. • Unplanned squatter housing • Potential impacts of the development on adjacent property owners. • Impacts of the proposed nature reserve. • Natural hazard vulnerability Assessment of construction works and resort operations 9 Environmental Solutions Ltd. Oyster Bay EIA • Construction impacts including earth materials sourcing, transport and storage; building construction methods; site management; noise; fugitive dust; traffic obstruction; and employment. • Resort operations and maintenance; use of energy saving and resource conservation technology, vehicular traffic generation, and employment. Reference should be made to the extent and quality of the available data and any information deficiencies and uncertainties associated with the prediction of impacts should be clearly identified. Task 5. Mitigation and Management of Negative Impacts - Recommend feasible and cost-effective measures to prevent or to reduce the significant negative impacts to acceptable levels. Task 6. Development of a Monitoring Plan - Prepare the outline of a plan for monitoring the impacts of the project and the implementation of mitigating measures during construction. This plan is to be detailed after the permit for the project is granted and the construction plans for the project have been finalized at which time the plan is to be submitted to NEPA for approval. Task 7. Determination of Project Alternatives – Examine alternatives to the project including the no-action option and alternatives involving reductions in the scale and footprint of the development. The examination of alternatives should appropriately defend the proposed alternative examined in the context of the EIA. Task 8. Assist in Inter-Agency Coordination and Public/NGO Participation - Assist in co-ordinating the environmental assessment with the government agencies and in obtaining the views of local NGO's and affected groups. Manage and coordinate the public hearing on the EIA findings as required by the NEPA permit approval process. 6. Report - The environmental assessment report is to be concise and limited to significant environmental issues. The main text is to focus on findings, conclusions and recommended actions supported by summaries of the data collected and citations for any references used in interpreting those data. The environmental assessment report is to be organized according to the outline below. o Executive Summary o Policy, Legal and Administrative Framework o Description of Proposed Project 10 Environmental Solutions Ltd. Oyster Bay EIA o o o o o o 1.4 Description of the Environment Significant Environmental Impacts and Impact Mitigation Measures Environmental Monitoring Plan Project Alternatives Inter-Agency and Public/NGO Involvement List of References STUDY TEAM A multidisciplinary team was identified to conduct the study and comprised the following persons: Peter Reeson, M.Sc. - ESL Principal, EIA Specialist and Team Leader - with many years of experience in environmental impact assessments, project management and working on a wide range of resort projects in Jamaica and the Caribbean. He has brought that expertise to bear in his role as project manager and principal consultant. Barry Wade, PhD – Coastal Zone Management Specialist, ESL Chairman and Principal – With over thirty years experience in coastal processes and pollution, and with previous assessment of this project site, Dr. Wade was instrumental in analysing the existing site and situation and determination of impacts and recommendation of mitigation measures. George Campbell, M.Sc. – ESL Principal and Social Ecologist – has brought his wide range of experience in socioeconomic assessments and community surveys to the social development and community aspects of the project. Ian Gage, B.Sc., PE – ESL Principal and Sanitary Engineer – with many years of institutional experience in the field of sanitation, Mr. Gage has provided advice and technical assistance to the EIA team on aspects of sewage treatment and disposal options and impacts. 11 Environmental Solutions Ltd. Oyster Bay EIA Margaret Williams, Ph.D. – Ecologist and EIA Specialist – using her extensive knowledge of Jamaican terrestrial environments, she was responsible for the review and compilation of the ecological aspects of the study and determination of potential impacts and recommendation of mitigation measures. Sharonmae Shirley, BSc, M.Phil – Environmental Chemist – with over eight years experience in environmental chemistry, including water and solid waste studies, Mrs. Shirley was responsible for analysis of coastal water quality. Aedan Earle, M.Sc. – Earth Scientist – Experienced in GIS, geotechnical investigations and terrain analysis, he was responsible for assessment of the physical impacts, producing the graphical overlays, and compiling the EIA report. Marlon Hibbert, M.Phil (pending) – Zoologist – Experienced in coral reef surveys and aiding the design and implementation of research programmes, Mr. Hibbert has worked on the ecology of the Martha Brae and was responsible for the marine data collection. 1.5 METHODOLOGY AND APPROACH 1.5.1 General Approach A multi-disciplinary team of experienced scientists and environmental professionals was assembled to carry out the required resource assessment, generation of baseline data, determination of potential impacts and recommendation of mitigation measures. An iterative approach among the environmental team members and other project professionals was adopted. The team utilized the Charette-style approach to data gathering, analysis, and presentation whereby team members conducted the reconnaissance investigations together to determine the critical elements for analysis and the issues to be highlighted for the design and planning process. 12 Team meetings Environmental Solutions Ltd. Oyster Bay EIA were held to discuss the progress of investigations and analyses and facilitate integration of data toward an understanding of the systems at work in both the natural and built environment. Baseline data for the study area was collected using a combination of: o Windshield Survey o Site Reconnaissance o Aerial Survey o Desk Top Research o Analysis of Maps and Plans o Review of Reports and background documents o Public Consultations o Field Studies o Laboratory Analyses o Charette Style Consultations 1.5.2 Physical Environment Information was gathered on the existing physical environment, particularly as related to geology, topography, soils, hydrology and drainage, water quality, air quality and noise. Geology, Topography, Soils Information on the climate, geology, topography, soils, was obtained by compiling existing data from reports as well as from source agencies. Aerial photos, satellite imagery and other published maps were also examined. Field work was carried out to augment and verify existing information relating to geology and soils and to obtain first hand knowledge of the topography. 13 Environmental Solutions Ltd. Oyster Bay EIA Hydrology and Drainage Surface and ground water characteristics and flows were assessed using field investigation as well as maps, aerial photographs and data from previous reports. Water Quality Water quality determinations, an important component of any environmental assessment, provide critical data on the condition of the water resource. The major objectives of the present water quality sampling programme are outlined below: ◊ To assess coastal/land use practices prior to the construction of the Oyster Bay Hotel(s), ◊ To determine baseline water quality conditions of the surface water systems ◊ To determine the nature and extent of existing land use impacts, ◊ To determine the impact of the disposal of treated sewage effluent from the proposed Oyster Bay Development on surface water quality, ◊ To determine compliance with local and international water quality standards. These objectives were largely met through the conduct of a water quality sampling exercise on November 9, 2004. Ten sampling stations were selected in Oyster Bay and the coastal waters off Bush and Florida Cays, based on their location relative to the discharge points of major water sources, and their current or potential impairment. The station locations are shown at Table 1.5. 14 Environmental Solutions Ltd. Oyster Bay EIA Table 1.5: Water Quality Stations STATION NUMBER STATION NAME 1 Deep sea control, north of Florida Cay 2 Coastal waters off Time and Place 3 Coastal waters off Florida Cay 4 Coastal waters off Bush Cay 5 Falmouth Harbour Mouth 6 Oyster Bay North 7 Center Oyster Bay 8 Northeast Oyster Bay 9 Oyster Bay South near boat dock 10 Martha Brae by bridge Samples were collected at a depth of 0.5m. and collection was facilitated by use of a boat. All samples were collected in pre-cleaned 2 litre polyethylene sample bottles. Bacterial samples were collected at the water’s surface in sterilized 100 ml glass bottles. The following parameters were analysed on all of the water samples: ◊ Ph ◊ Salinity ◊ Dissolved Oxygen ◊ Turbidity ◊ Nitrate ◊ Phosphate ◊ BOD5 ◊ Total and Faecal Coliform 15 Environmental Solutions Ltd. Oyster Bay EIA Salinity, temperature, and dissolved oxygen were measured in situ at all sampling stations using a YSI Model 57 Salinity/Conductivity/Temperature (SCT) meter and YSI Model 33 oxygen meter respectively. Measurements were taken at the surface (0.5m depth) of the water column. Environmental Solutions Limited Laboratory performed or supervised the analysis of all parameters. Laboratory analyses used certified methodology, primarily from the text ‘Standard Methods for Examining Water and Wastewater’. 1.5.3 Biological Environment The status of the flora and fauna of the study area was determined by a review of literature relevant to the area and field investigations for both the terrestrial and marine environments. Flora The vegetative communities were identified using the method of Grossman et al (1991) and classified into community types. Identification was carried out of dominant tree species, assessment of stage of growth (mature or sapling) and assessment of canopy cover. The vegetation was identified and described for seven sites along the property Fauna Information on avifauna was gathered from existing literature on reported species as well as observations in the field. Birds were identified by both sight and call. Marine Ecology- Fore Reef System and Back Reef Lagoon The reef system north of the development site was investigated in an effort to determine the status of the marine community and the possible impacts the 16 Environmental Solutions Ltd. Oyster Bay EIA proposed development might pose to this community. The assessment was conducted using SCUBA diving. A qualitative assessment was conducted in three areas, the data collected provided a species list, each species was then further assessed by using the subjective (DAFOR) rating for each species. The DAFOR provides an indication of whether an individual species is Dominant, Abundant, Frequent, Occasional or Rare in the environment, this rating is useful in giving an overall picture of the area, but limited because the observation rating for an individual species may change from day to day. Qualitative data on general features of the site were obtained using roving swims aided by underwater photography. Quantitative data on benthic communities were obtained using three (3) twenty (20) m long transects, percentage cover of these communities were collected using 0.25m quadrants along the transect line. Plankton and Chlorophyll ‘a’ analysis (i) Identification and Enumeration A 250 mL opaque bottle was used for collection. Before entering the field 5 mL of Lugol’s iodine solution was placed in the bottle as a preservative (Vollenweider, 1969; Steidinger,1979). Once collected the sample was returned to the lab and analyzed as soon as possible. (ii) Biomass (Chlorophyll ’a’ determination) A one litre dark bottle was used to collect the sample to be used for the flourometric determination of chlorophyll pigments. Dark bottles were used to prevent light shock and subsequent degradation of chlorophyll pigments. Filtration was achieved using the Nalgene Fractionating tower using different filter sizes to obtain three fractions of phytoplankton. 17 The filtrate obtained was Environmental Solutions Ltd. Oyster Bay EIA collected, chloroform added to prevent nutrient degradation and frozen for later analysis. 1.5.4 Socio-economic Environment Rural rapid appraisal techniques were used in 5 communities lying within or neighbouring Oyster Bay, to identify issues of relevance to the Project. The process involved windscreen observations, in-depth structured interviews as well as non-structured ad hoc discussions with key informants, other individuals and groups. Both Government agencies and private sector enterprises, were canvassed. Demographic data was sourced from STATIN and hydrological data from The National Water Authority. Information was gathered on the following aspects: • typology (urban, rural, unplanned residential, housing scheme, etc.) • land uses and livelihoods • developments underway • community facilities • water supply and other utilities • waste management practices • recreational activities • heritage 18 Environmental Solutions Ltd. Oyster Bay EIA 2. PROJECT DESCRIPTION 2.1 DESIGN AND LAYOUT The proposed resort to be located on the Florida peninsula-Bush Cay lands near Falmouth will consists of four hotels to be built in two phases along the northern half of the peninsula, Figure 2.1.1. Each hotel will consist of rooms on land as well as rooms over the sea referred to as sea-rooms. The four hotels have a reception area and the land rooms have pools and decks associated with them. Table 2.1.1 indicates the number of land and sea rooms associated with each hotel. The resort also has a conference and entertainment center as well as staff accommodation, water storage and a waste water treatment plant. Table 2.1.1: Allocation of Rooms to Hotels Hotel No. No. of Land Rooms No. of Sea Rooms 1 2 3 4 432 453 520 736 44 42 36 42 Each hotel consists of a single story reception/lobby area as shown in Figure 2.1.1, and land rooms which consists of three story structures shown in Figure 2.1.2. The sea rooms consist of one bedroom wooden structures built over the sea on concrete piles. Figure 2.1.3 illustrates the general configuration of the sea rooms. The land rooms will be built with the lower floor elevated above the land surface which is typically about 1 meter above sea level. Figure 2.1.4 shows a section across the peninsula and illustrates the relationship between the mangroves to the south and the land rooms in relation to the land surface. Figure 2.1.5 shows further details of the elevated nature of the lower floor and the relationship with the beach area along the northern shoreline of the peninsula. 19 Environmental Solutions Ltd. Oyster Bay EIA Figure 2.1.1: Resort Layout 20 Environmental Solutions Ltd. Oyster Bay EIA Figure 2.1.2: Views of Hotel Block (1) 21 Environmental Solutions Ltd. Oyster Bay EIA Figure 2.1.3: Layout and Configuration of Sea Rooms 22 Environmental Solutions Ltd. Oyster Bay EIA Figure 2.1.4: Section across Peninsula showing Land Rooms from North to South 23 Environmental Solutions Ltd. Oyster Bay EIA Figure 2.1.5: Detail of Land Room showing the Raised Lower Floor in Relation to the Landscape 24 Environmental Solutions Ltd. Oyster Bay EIA Staff accommodation, staff offices, laundry area, water storage, and sewage plant will be located at the extreme eastern end of the property where the peninsula grades into the limestone foothills to the southeast. 2.2 CONSTRUCTION SCHEDULE AND METHODOLOGY 2.2.1 Phasing The resort will be constructed in two phases beginning with the construction of hotels 1 and 2 followed by hotels 3 and 4. The first phase is anticipated to take one year to complete. 2.2.2 Piling All major structures of the hotel including the land rooms and sea rooms will be founded on piles. These will consist of concrete piles driven until the underlying soils are of sufficient compaction to provide adequate bearing capacity. Preliminary results from soil borings suggest that these piles will be in excess of 40 feet in some locations. 2.2.3 Mangrove Protection The hotels will be built along the northern shoreline of the peninsula with the overall footprint of the resort occupying areas north of the mangrove covered portion. Figure 2.1.1 shows the relationship between the existing mangrove area and the footprint of the resort. A small portion of mangrove fringing the southern lagoon will be removed for siting the reception area of hotel 1. A large section of mangrove removed from the southeastern part of the site for a previous development over 30 years ago will be rejuvenated. A nature park will be designed as part of this resuscitated mangrove area and will include ponds and other wetland features. 25 Environmental Solutions Ltd. Oyster Bay EIA 2.2.4 Building Construction Method The developers intend to use “Tunnel Form “ construction method to build the major hotel structures such as the reception areas and the land rooms. This methodology involves the use of reinforced concrete poured in place using rectangular tunnel shaped formwork. This forms a rectangular tunnel shaped structure which is then partitioned. The process is repeated laterally and vertically to form the shell of the building. The sea rooms will be made of water resistant timber. 2.3 OPERATIONS 2.3.1 Utilities Water will be supplied from the municipal water suppliers, the National Water Commission. Electricity will be generated on-site by package electric generators. 2.3.2 Solid Waste Management Solid waste will be disposed of by haulage to the municipal solid waste land fill at Retirement in Montego Bay. 2.3.3 Sewage treatment and effluent disposal A package sewage treatment plant will be installed capable of tertiary level treatment located on limestone rock at the southeastern end of the property. The plant is an activated sludge system capable of treating 600 m3 per day. The process flow diagram of the treatment plant is shown in Figure 2.3.1 and a diagrammatic layout of the plant is shown in Figure 2.3.2. 26 Environmental Solutions Ltd. Oyster Bay EIA Figure 2.3.1: Process Flow Diagram of Sewage Treatment Plant 27 Environmental Solutions Ltd. Oyster Bay EIA Figure 2.3.2: Diagnostic Layout of STP Installation 28 Environmental Solutions Ltd. Oyster Bay EIA Waste water will be stored temporarily in holding tanks in each hotel. From there it will be pumped to the treatment plant. The effluent will be gravity fed into holding ponds within the rejuvenated mangrove area and the overflow dissipated through multiple outlets through the mangrove. Final design specification will have to ensure that the effluent produced by the plant meets NEPA standards that apply to the installation of new waste water treatment systems. Additional treatment of the effluent will produce irrigation water for the resort. The final design specification of this aspect of the treatment process will have to ensure that the grey water produced meets the NEPA standards for irrigation water. (See Section 3) NEPA requires an application for a licence to treat and discharge sewage effluent. During this application process details of the final design will be made available to NEPA for consideration and approval. However, the requirements for sewage effluents have been outlined in this report and taken into consideration for the assessments of impacts for this development. It is anticipated that NEPA standards will be met, in the final design. 29 Environmental Solutions Ltd. Oyster Bay EIA 3. LEGISLATIVE AND REGULATORY CONSIDERATIONS This section presents the legislation and regulations pertinent to the proposed Oyster Bay Resort Development. 3.1 PERMITTING ASPECTS The Oyster Bay Resort falls within the prescribed category of ‘Development Projects’ and a Project Information Form and Permit Application Form were submitted to the National Environment and Planning Agency (NEPA). An Environmental Impact Assessment for the project was requested, and is the subject of this report. Several legal instruments, national and international, are relevant to the proposed development. 3.2 NATIONAL LEGISLATION – NATURAL ENVIRONMENT 3.2.1 Natural Resources Conservation Act (1991) The Natural Resources Conservation Act was passed in the Jamaican Parliament in 1991 and provided the basis for the establishment of the Natural Resources Conservation Authority (NRCA) with primary responsibility for ensuring sustainable development in Jamaica through the protection and management of Jamaica’s natural resources and control of pollution. Sections 9 and 10 of the NRCA Act stipulate that an Environmental Impact Assessment (EIA) is required for new projects and existing projects undergoing expansion. 3.2.2 Environmental Review and Permitting Process (1997) The environmental Permit and License System (P&L), introduced in 1997, is a mechanism to ensure that all developments in Jamaica meet required standards in order to minimize negative environmental impacts. The P&L System is administered by NEPA, through the Applications Section (formerly the Permit and License Secretariat). Permits are required by persons undertaking new 30 Environmental Solutions Ltd. Oyster Bay EIA development which fall within a prescribed category. Under the NRCA Act of 1991, the NRCA is authorized to issue, suspend and revoke permits and licences if facilities are not in compliance with the environmental standards and conditions of approval stipulated. An applicant for a Permit or License must complete an application form as well as a Project Information Form (PIF) for submission to the NRCA. The Permit Application and PIF were submitted in January 2004. 3.2.3 Wildlife Protection Act (1945) The Wildlife Protection Act of 1945 prohibits removal, sale or possession of protected animals, use of dynamite, poisons or other noxious material to kill or injure fish, prohibits discharge of trade effluent or industrial waste into harbours, lagoons, estuaries and streams, and Authorizes the establishment of Game Sanctuaries and Reserves. Protected under the Wildlife Protection Act are six species of sea turtle, one land mammal, one butterfly, three reptiles and several species of birds including rare and endangered species and game birds. 3.2.4 The Endangered Species (Protection, Conservation and Regulation of Trade) Act (1999) This Act deals with restriction on trade in endangered species, regulation of trade in species specified in the schedule, suspension and revocation of permits or certificates, offences and penalties, and enforcement. Many species of reptile, amphibian and birds that are endemic to Jamaica but not previously listed under national protective legislation, or under international legislation, are listed in the Appendices of this Act. 3.2.5 The Natural Resources (Prescribed Areas)(Prohibition of Categories of Enterprise, Construction and Development) Order (1996) The island of Jamaica and the Territorial Sea of Jamaica have been declared a Prescribed Area. No person can undertake any enterprise, construction or development of a prescribed description or category except under and in accordance with a permit. The Natural Resources Conservation (Permits and Licenses) Regulations (1996) give effect to the provisions of the Prescribed Areas Order. 31 Environmental Solutions Ltd. Oyster Bay EIA 3.2.6 Water Resources Act (1995) The Water Resources Act of 1995 established the Water Resources Authority (WRA). This Authority is authorized to regulate, allocate, conserve and manage the water resources of the island. The Authority is also responsible for water quality control and is required under Section 4 of the Act to provide upon request to any department or agency of Government, technical assistance for any projects, programmes or activities relating to development, conservation and the use of water resources. It is the responsibility of the WRA as outlined in Section 16 to prepare, for the approval of the Minister, a draft National Water Resources Master Plan for Jamaica. Areas to be covered in this Draft Master Plan of 1990 included objectives for the development, conservation and use of water resources in Jamaica with consideration being given to the protection and encouragement of economic activity, and the protection of the environment and the enhancement of environmental values. Section 25 advises that the proposed user will still have to obtain planning permission, if this is a requirement, under the Town and Country Planning Act. In addition, Section 21 of the Act stipulates that if the water to be used will result in the discharge of effluents, an application for a license to discharge effluents will have to be made to the Natural Resources Conservation Authority or any other relevant body as indicated by the Minister. With regard to underground water, Section 37 states that it is unlawful to allow this water to go to waste. However, if the underground water "interferes or threatens to interfere with the execution or operation of any underground works", it will not be unlawful to allow the water to go to waste in order to carry out the required works provided that there is no other reasonable method of disposing of 32 Environmental Solutions Ltd. Oyster Bay EIA the water. The Authority also has the power to determine the safe yield of aquifers (Section 38). 3.2.7 Country Fires Act (1942) Section 4 of the Country Fires Act of 1942 prohibits the setting of fire to trash without prior notice being given to the nearest police station and the occupiers of all adjoining lands. In addition, a space of at least fifteen feet in width must be cleared around all trash to be burnt and all inflammable material removed from the area. Section 6 of the Act empowers the Minister to prohibit, as may be necessary, the setting of fire to trash without a permit. Offences against this Act include: • Setting fire to trash between the hours of 6.00 p.m. and 6.00 a.m. (Section 5a); • Leaving open-air fires unattended before they have been completely extinguished (Section 5b); • Setting fires without a permit and contrary to the provisions outlined in Section 6 (Section 8); • Negligent use or management of a fire which could result in damage to property (Section 13a); • Smoking a pipe, cigar or cigarette on the grounds of a plantation which could result in damage to property (Section 13b). 3.2.8 Quarries Control Act (1983) The Quarries Control Act of 1983 established the Quarries Advisory Committee, which advises the Minister on general policy relating to quarries as well as on applications for licenses. The Act provides for the establishment of quarry zones, and controls licensing and operations of all quarries. The Minister may on the recommendation of the Quarries Advisory Committee declare as a specified area any area, in which quarry zones are to be established and establish quarry zones within any such specified area. 33 Environmental Solutions Ltd. Oyster Bay EIA Section 5 of the Act states that a licence is required for establishing or operating a quarry though this requirement may be waived by the Minister if the mineral to be extracted is less than 100 cubic metres. Application procedures are outlined in Section 8. The prescribed form is to be filed with the Minister along with the prescribed fee and relevant particulars. The applicant is also required to place a notice in a prominent place at the proposed site for a period of at least 21 days starting from the date on which it was filed. 3.2.9 The Pesticides (Amendment) Act (1996) The Pesticides (Amendment) Act of 1996 amended sections of the principal act, which came into effect in 1975 and established the Pesticides Control Authority. This Act gives the Authority the responsibility of controlling the importation, manufacture, packaging, sale, use and disposal of pesticides. Section 11 states that the Authority is required to keep a register or record of all relevant information such as registered pesticides, restricted pesticides, pest control operators and persons licensed to import or manufacture pesticides. Under Section 16 of the Act, the Authority may also, with the approval of the Minister, make regulations which relate to areas such as: ¾ Aerial application of pesticides; ¾ Supervision required for the use of pesticides, the prescribed protective clothing to be worn and other precautionary measures; ¾ The permissible levels of pesticides to be used; ¾ The periods during which particular pesticides may or may not be used on certain agricultural crops; ¾ The disposal of pesticides and packages. 34 Environmental Solutions Ltd. Oyster Bay EIA 3.2.10 Air Quality Standards The Federal Clean Air Act which came into force in the United States in 1990 established air quality standards for six pollutants: ozone (O3), carbon monoxide (CO), sulfur dioxide (SO2), nitrogen dioxide (NO2), respirable particulate matter (PM10) and lead (Pb). An allowable level for each of these pollutants has been set by the United States Environmental Protection Agency (US EPA) whose objective is to protect the public from exposure to dangerous levels. National standards, known as the National Ambient Air Quality Standards (NAAQS), were established and they were categorized into two groups. In one group, there are the primary standards, designed to protect human health and in the other, there are the secondary standards designed to protect the environment and limit property damage. 3.2.11 Noise Standards To date, Jamaica has no National legislation for noise, but World Bank guidelines are often used for benchmarking purposes. The NRCA is currently preparing a draft document for national Noise Standards. 3.2.12 Water Quality NRCA Act (1990) The NRCA has primary responsibility for control of pollution in Jamaica’s environment, including pollution of water. National Standards exist for industrial and sewage discharge into rivers and streams. WHO Standards for drinking water are used and these are regulated by the National Water Commission. There are no national standards for ambient water quality of riverine systems. The tables below gives the relevant NRCA Interim Irrigation Standards and Sewage Effluent Standards. 35 Environmental Solutions Ltd. Oyster Bay EIA Table 3.2.12a: Parameter Interim Irrigation Standards Natural Resources Conservation Authority (NRCA) Interim Irrigation Standards Standard Limit Oil & Grease 10 mg/L Total Suspended Solids (TSS) 15 mg/L Residual Chlorine 0.5 mg/L Biochemical Oxygen Demand (BOD) 15 mg/L Chemical Oxygen Demand (COD) <100 mg/L Faecal Coliform 12 MPN/100mL Table 3.2.12b: NRCA Sewage Effluent Standards Immediate Technology Based Effluent Standards Parameter Effluent Limited BOD5 20 mg/l TSS 30 mg/l Nitrates (as Nitrogen) 30 mg/ Phosphates 10 mg/l COD 100 mg/l pH 6-9 Faecal Coliform 1000 MPN/100ml Residual Chlorine 1.5 mg/l Proposed Sewage Effluent Standards BOD5 20 mg/l TSS 20 mg/l Total Nitrogen 10 mg/l Phosphates 4 mg/l COD 100 mg/l pH 6-9 Faecal Coliform 1000 MPN/100ml Residual Chlorine 1.5 mg/l 36 Environmental Solutions Ltd. Oyster Bay EIA 3.2.13 The Beach Control Authority (Licensing) Regulations (1956) The Beach Control Regulations require a permit for any works on the beach, coastline or foreshore. Application must be made to the Applications Secretariat at the National Environment and Planning Agency (NEPA). Requirements include a Notice of Application to be posted on the landward and seaward sides of the property and said Notice should be served on adjoining neighbours. 3.3 NATIONAL LEGISLATION – SOCIAL ENVIRONMENT 3.3.1 Town and Country Planning Act (1958) Section 5 of the Town and Country Planning Act authorizes the Town and Country Planning Authority to prepare, after consultation with any local authority, the provisional development orders required for any land in the urban or rural areas, so as to control the development of land in the prescribed area. In this manner, the Authority will be able to coordinate the development of roads and public services and conserve and develop the resources in the area. Any person may, under Section 6 of the Act, object to any development order on the grounds that it is: • impractical and unnecessary; • against the interests of the economic welfare of the locality. However, if the Minister is satisfied that the implementation of the provisional development order is likely to be in the public interest, he may, under Section 7 (2) of the Act, confirm it with or without modification by publishing a notice in the Gazette. Section 8 of the Act also gives the Minister the authority to amend a confirmed development order. Section 10 of the Act states that a development order must include: • clearly defined details of the area to be developed; 37 Environmental Solutions Ltd. Oyster Bay EIA • regulations regarding the development of the land in the area specified; • formal granting of permission for the development of land in the area. If the provisions of section 9A of the Natural Resources Conservation Authority (NRCA) Act apply to the development, the application can only be approved by the Planning Authority after the NRCA has granted a permit for the development. (Section 11 (1A). The Authority may impose a "tree preservation order" under Section 25 of the Act if it considers it important to make provision for the preservation of trees and woodlands in the area of the development. This order may: ¾ prohibit the cutting down, topping, lopping or willful destruction of trees; ¾ secure the replanting of any section of the woodland area in which trees were felled during the forestry operations permitted under the order. The tree preservation order is not applicable to the cutting down of trees which were already dead, dying or had become dangerous and the order can take effect only after it has been confirmed by the Minister. The Minister can, under Section 26 of the Act, make regulations to restrict and regulate the display of advertisements in any area to be developed if he considers this to be in the interest of public safety. Section 28 of the Act empowers the local authority to require the owner or occupier of land in the development area to take the steps necessary to ensure its proper maintenance. 3.3.2 Land Development and Utilization Act (1966) Under Section 3 of the of the Land Development and Utilization Act (1966), the Land Development and Utilization Commission is authorized to designate as agricultural land, any land which because of its "situation, character and other 38 Environmental Solutions Ltd. Oyster Bay EIA relevant circumstances" should be brought into use for agriculture. However, this order is not applicable to land, which has been approved under the Town and Country Planning Act for development purposes other than that of agriculture. Among the duties of the Commission outlined in Section 14 of the Act is its responsibility to ensure that agricultural land is "as far as possible, properly developed and utilized". 3.3.3 The National Solid Waste Management Authority Act (2001) The National Solid Waste Management Authority Act (2001) is “an act to provide for the regulation and management of solid waste; to establish a body to be called the National Solid Waste Management Authority and for matters connected therewith or incidental thereto”. The Solid Waste Management Authority (SWMA) is to take all steps as necessary for the effective management of solid waste in Jamaica in order to safeguard public health, ensure that waste is collected, sorted, transported, recycled, reused or disposed of, in an environmentally sound manner and to promote safety standards in relation to such waste. The SWMA also has responsibility for the promotion of public awareness of the importance of efficient solid waste management, to advise the Minister on matters of general policy and to perform other functions pertaining to solid waste management. 3.3.4 Jamaica National Heritage Trust Act (1985) The Jamaica National Heritage Trust Act of 1985 established the Jamaica National Heritage Trust (JNHT). The Trust's functions outlined in Section 4 include the following responsibilities: ¾ To promote the preservation of national monuments and anything designated as protected national heritage for the benefit of the Island; ¾ To carry out such development as it considers necessary for the preservation of any national monument or anything designated as protected national heritage; 39 Environmental Solutions Ltd. Oyster Bay EIA ¾ To record any precious objects or works of art to be preserved and to identify and record any species of botanical or animal life to be protected. Section 17 further states that it is an offence for any individual to: ¾ willfully deface, damage or destroy any national monument or protected national heritage or to deface, damage, destroy, conceal or remove any mark affixed to a national monument or protected national heritage; ¾ alter any national monument or mark without the written permission of the Trust; ¾ remove or cause to be removed any national monument or protected national heritage to a place outside of Jamaica. 3.3.5 Land Acquisition Act (1947) Section 3 of the Land Acquisition Act (1947) empowers any officer authorized by the Minister to enter and survey land in any locality that may be needed for any public purpose. This may also involve: • Digging or boring into the sub-soil; • Cutting down and clearing away any standing crop, fence, bush or woodland; • Carrying out other acts necessary to ascertain that the land is suitable for the required purpose. . The Minister is authorized under Section 5 of the Act to make a public declaration under his signature if land is required for a public purpose provided that the compensation to be awarded for the land is to be paid out of the: • Consolidated Fund or loan funds of the Government; • Funds of any Parish Council, the Kingston and St. Andrew Corporation or the National Water Commission. 40 Environmental Solutions Ltd. Oyster Bay EIA Once the Commissioner enters into possession of any land under the provisions of this Act, the land is vested in the Commissioner of Lands and is held in trust for the Government of Jamaica in keeping with the details outlined in Section 16. The Commissioner shall provide the Registrar of Titles with a copy of every notice published as well as a plan of the land. The Commissioner will also make an application to the Registrar of Titles in order to bring the title of the land under the operation of the Registration of Titles Act. 3.3.6 Registration of Titles Act (1989) The Registration of Titles Act of 1989 is the legal basis for land registration in Jamaica, which is carried out using a modified Torrens System (Centre for Property Studies, 1998). Under this system, land registration is not compulsory, although once a property is entered in the registry system the title is continued through any transfer of ownership. 3.4 INTERNATIONAL LEGISLATIVE AND REGULATORY CONSIDERATIONS 3.4.1 Cartagena Convention (Convention for the Protection and Development of the Marine Environment of the Wider Caribbean Region) (1983) Adopted in March 1983 in Cartagena, Colombia, the Convention for the Protection and Development of the Marine Environment of the Wider Caribbean Region, also known as the Cartagena Convention, is the only legally binding environmental treaty for the Wider Caribbean. The Convention came into force in October 1996 as a legal instrument for the implementation of the Caribbean Action Plan and represents a commitment by the participating governments to protect, develop and manage their common waters individually and jointly. Ratified by twenty countries, the Cartagena Convention is a framework agreement which sets out the political and legal foundations for actions to be 41 Environmental Solutions Ltd. Oyster Bay EIA developed. The operational Protocols, which direct these actions, are designed to address special issues and to initiate concrete actions. The Convention is currently supported by three Protocols. These are: • The Protocol Concerning Co-operation in Combating Oil Spills in the Wider Caribbean Region (The Oil Spills Protocol), which was adopted and entered into force at the same time as the Cartagena Convention; • The Protocol Concerning Specially Protected Areas and Wildlife in the Wider Caribbean Region (The SPAW Protocol), which was adopted in two stages, the text in January, 1990 and its Annexes in June, 1991. The Protocol entered into force in 2000; • The Protocol Concerning Pollution from Land-based Sources and Activities in the Wider Caribbean Region (LBS Protocol), which was adopted in October, 1999. 3.4.2 Biodiversity Convention The objectives of the Convention on Biological Diversity are "the conservation of biological diversity, sustainable use of its components and the fair equitable sharing of the benefits arising out of the utilization of genetic resources". This is the first global, comprehensive agreement which has as its focus all aspects of biological diversity: genetic resources, species and ecosystems. The Convention acknowledges that the "conservation of biological diversity is a common concern of humankind and an integral part of the development process". In order to achieve its goals, the signatories are required to: • Develop plans for protecting habitat and species. • Provide funds and technology to help developing countries provide protection. • Ensure commercial access to biological resources for development. • Share revenues fairly among source countries and developers. • Establish safe regulations and liability for risks associated with biotechnology development. 42 Environmental Solutions Ltd. Oyster Bay EIA Jamaica’s Green Paper Number 3/01, entitled Towards a National Strategy and Action Plan on Biological Diversity in Jamaica, speaks to Jamaica’s continuing commitment to its obligations as a signatory to the Convention. 43 Environmental Solutions Ltd. Oyster Bay EIA 4. DESCRIPTION OF STUDY AREA 4.1 TOPOGRAPHY AND DRAINAGE The Florida/ Bush Cay lands consist of a peninsula that projects in an east-west direction into the estuary embayment of Oyster Bay. (Figure 4.1.1. ) The property consists of a wider eastern portion known as Florida which has become connected over time with an island at the western extremity known as Bush Cay to form a tombolo feature. The Martha Brae River flows into Oyster Bay through an extensive wetland system found along the inland limestone foothills that run parallel to the coastline. Where the peninsula is joined to the mainland the topography rises sharply as a series of flat topped terraces to an elevation of 120 feet. The land surface of the project site is gently undulating rising at a low angle from the sea with a maximum elevation of about 2.5 meters. The morphology of the land surface is defined by the beach structure running along the northern shore of the peninsula, while the southern shore and eastern portion of the site is shaped by the low lying wetland. The wetland area occupies approximately 60% of the surface. 30% of these is old mangrove, 30% is current mangrove and about 1% is freshwater wetland. 40% of the surface comprises sand flats and sand dunes. Bush Cay has been joined through sedimentation with the Florida peninsula to form a continuous stretch of land. Drainage of the sand covered area of the site is good while extensive ponding of the low lying wetland area occurs after heavy rains and persists for long periods. The limestone hills south of the site drain by downward movement of rainfall through cracks and other solution features. The water table is very close to or at sea level throughout the site. 44 Environmental Solutions Ltd. Oyster Bay EIA Figure 4.1.1: Topography of Florida Peninsula and Bush Cay 45 Environmental Solutions Ltd. Oyster Bay EIA 4.2 CLIMATE The climate of the site like the rest of Jamaica is subtropical with gentle northeasterly prevailing winds and average daily temperatures varying from 23oC in January to about 28oC in July. Humidity ranges from 66% to 87% with a significant diurnal variation resulting in high morning humidity dropping off significantly in the afternoon. Rainfall data from the Meteorological Office over the period 1951- 1980 indicates mean monthly rainfall for Falmouth is in the order of 85 mm with a high of 163 in November and 105 in May. There are two distinct periods of higher than average rainfall between October to January and during May. During the period June to November each year extreme weather conditions are produced by tropical systems that develop in the north Atlantic and Caribbean basins. These system move westwards through the Caribbean region and generate intense rainfall of long duration as well as high velocity winds when they pass close to or make landfall. Northers that form over the North American continent in winter months produce slow moving cold fonts that approach the island from the north and bring with them intense rainfall that can persist for days. 4.3 GEOLOGY The peninsula making up the project site is underlain by a thick sequence of silt deposited into Oyster Bay estuary by the Martha Brae River. Longshore currents moving in a predominantly westward direction have caused long term deposition of this sediment forming the base of the existing peninsula. Onshore drilling has indicated that these sediments extend to depths in excess of 100 feet . Typically the silt becomes highly compacted at depths of about 70 feet at the western end of the site reducing to about 40 feet towards the eastern end of the property. 46 Environmental Solutions Ltd. Oyster Bay EIA Depostion of calcareous sediment from organisms living in the offshore sea grass beds and from the fringing reefs has been deposited on the northern margin of the peninsula. These deposits have accumulated over the underlying silts to form the existing beach berm complex. The beach sand consists of fine to coarse, moderately sorted calcareous sand. The southeastern part of the project site where the peninsula joins the mainland is underlain by limestones belonging to the suite of rocks known as the Coastal Group formed by offshore reef building processes. At this location the rock is hard and massive with no well defined bedding. These rocks are well exposed throughout this area with only a very thin layer of overlying soil in the order of 0.25 to 0.75 meters thick. As a result of periodic tectonic uplift and tilting the limestone reef-rock formations have been elevated to form what are referred as raised reefs. This gives the topography a distinctive terrace appearance with steep scarp faces with flat tops. There are no significant large scale geological structures that are in the general area of the proposed site or on the site itself. 4.4 OCEANOGRAPHY 4.4.1 Bathymetry The peninsula is surrounded the Caribbean Sea along the northern shore while the southern shore is surrounded by the waters of the enclosed Oyster Bay lagoon. A fringing reef runs parallel to the shoreline about 50 meters offshore. Towards the western end the reef becomes patchy and projects further away from the shore. A detailed bathymetric survey was carried out by Smith Warner International (SWIL)2004, (see Appendix I). 47 Environmental Solutions Ltd. Oyster Bay EIA An artificial channel was dredged in the passage between the reef and the shoreline which is about five feet deep about thirty years ago. Towards the western and eastern end of the fringing reef a distinct passage exists connecting the channel to the fore reef areas. The eastern most opening was widened by blasting at the time of dredging and now forms the channel through which most of the water flows back out to sea. Beyond the reef the seafloor deepens with a steep slope to depths of 20 meters over a horizontal distance of 300 meters. Over the past 10 years erosion of some sections of the beach has removed beach sand along some sections of the shoreline. In these areas the foreshore is relatively flat and mostly consists of exposed reef-rock that extends up to 20 meters offshore. The Oyster Bay lagoon is formed by the Florida peninsula partially surrounding the Martha Brae River estuary. Sediment brought down by the river is deposited in the lagoon and accumulates so that water depth in the lagoon is typically less than 1-5 meters. The floor of the lagoon is relatively flat. 4.4.2 Currents and Waves Near shore currents are confined to the northern shore and result from the interaction of near shore waves with the bathymetric configuration. Detailed measurements taken by Smith Warner International, 2004 (Appendix I) indicate a strong influence of sea tidal levels on these currents. The report indicates that the currents are longshore currents that move towards the northeast during periods of rising tide and towards the southeast on the falling tide. Total diurnal variation in tide levels was found to be 0.5 meters. Current speeds varied depending on the tide stage and localised bathymetry ranging between 0.03 and 0.9 ms-1 . A detailed analysis of the wave conditions on the northern shore is provided in Appendix I. Deep water wind generated waves were shown to approach the coastline primarily from the east and northeast with wave heights of 1.2 meters. 48 Environmental Solutions Ltd. Oyster Bay EIA The SWIL report indicates that the offshore fringing reef has a significant effect in dampening the wave energy and reducing the height of waves reaching the shore. Waves reaching the shoreline were shown to be in the order of 0.05 – 0.3 m when attenuated by the reef and range between 0.25 and 0.75m where there are gaps in the reef. Currents When waves break on the reef, there is a collection of water between the reef and the shoreline, which runs alongshore current. At several locations, these are then transformed into a rip current as water escapes through the gaps in the reef. Rip currents pose a safety issue for users of the beach, as they can be swept offshore by the force of the current. It is recommended that designated swimming areas be identified along the shoreline where the swimming hazard that the rip current poses are non-existent. As an alternative, artificial reefs could be created in the reef gaps to reduce the velocity of the rip currents. Re-profiling of the shoreline with the intention of reducing longshore currents and in turn reducing the rip currents is also another possible option. Finally, it is possible to construct deepened swimming areas along with cross-shore barriers to the alongshore current. Storm Surge Storm surge computations have been conducted using return periods of 20 and 10 years, in addition to the 50 year return period. The results indicate that 10 year storm surge ranges up to 2.1 metres, and the 20 year, 2.8 metres. It should be noted that storm surge does not include wave run-up which could carry moving water at least 1.0 metres higher. As the ground elevation is rarely greater than 2.0 metres, this analysis suggests that the entire site would be inundated at even the 10 year return period. Normal set-back computations are based on the intersection of the storm surge level with the corresponding topographic contour. In this case, this is not possible. Instead, the setback 49 Environmental Solutions Ltd. Oyster Bay EIA distance should account for possible shoreline movements, and all permanent infrastructure should include suitable scour protection measures. 4.4.3 Beach Stability The northern shoreline of the peninsula is highly dynamic resulting in significant movement of sediment along the shoreline. The SWIL 2004 study carried out a detailed analysis of the movement of sediment in response to the prevailing wave regime. It was found that there is significant net movement of sediment in a westerly direction due to the dominant prevailing winds from the east and northeast. The quantities of sediment moved westwards along the coast was estimated to be as high as 200,000 m3 per year. While there is a net movement of sediment towards the west, sections of the shoreline were shown to be areas primarily of erosion or accretion. Additional estimates of shoreline erosion suggest that the shoreline has receded along some sections by as much as 15 meters over the past 10 years. Evidence of this can be seen as remnant tree stumps and old building foundations presently located along the foreshore. This reflects the sensitivity of the coastal processes operating on the northern shoreline to localised conditions as well as to extreme weather events such as Northers and hurricanes. It therefore suggests that any structural modification of the shoreline will have to be carefully considered to take into account the dynamics of this section of coastline. In particular the study indicated that the placement of piles to support rooms over- the sea will not a have a deleterious effect on sediment transport and the near shore wave-current regime if piles have diameters of 0.4 meters and are placed not less than 3 meters apart. 50 Environmental Solutions Ltd. Oyster Bay EIA 4.5 TERRESTRIAL ECOLOGY 4.5.1 Flora The vegetation on the property is composed of two distinct zones the Whistling Pine zone and the Mangrove zone, and may be classified as secondary modified vegetative communities based on (Grossman et al, 1991) (Figure 4.5.1.) It includes both terrestrial vegetation and coastal species. Ecological details on the dominant vegetative species is given in Table 4.5.1. 51 Environmental Solutions Ltd. Oyster Bay EIA Figure 4.5.1: Vegetative Communities 52 Environmental Solutions Ltd. Oyster Bay EIA Table 4.5.1: Dominant Trees on the Oyster Bay Site Scientific Name Common Name Habitat Casuarina equisetifolia Whistling Pine Common Status and Distribution mostly in sandy Native of tropical Asia and Australasia, coastal and often planted naturalized in the Wes Indies and elsewhere, also Grand Cayman Coccoloba uvifera Sea Grape Common and locally dominant Florida, Bahamas, Atlantic coast from along the seacoast on strand, Mexico to the Guianas, West Indies, Grand sand dunes and in thickets, rare Cayman, introduced in the Pacific inland Rhizophora mangle Red Mangrove Common along muddy shores Coasts of continental tropical America, and in estuarine swamps, West Indies, W. Africa and Pacific islands, occasional inland Laguncularia racemosa White Mangrove Grand Cayman Common along the margins of Eastern tropical America, West Indies, lagoons and brackens creeks Cayman Islands, W. tropical Africa and also on the cays Avicennia germinans Black Mangrove Common brackish in all saline communities around tropics from Florida to Brazil, Ecuador, Peru the coast and on the cays Conocarpus erectus Button Mangrove and Coasts of the American subtropics and and W. Africa Common at the inner margins of Florida, mangrove swamps and Bahamas, continental tropical in America, West Indies, Cayman Islands, W. thickets on Salinas and also on tropical Africa 53 Environmental Solutions Ltd. Oyster Bay EIA the cays Thespesia populnea Seaside Mahoe Common in littoral situations. Throughout the tropics General on sandy or gravelly shores and at mangrove margins Terminalia catappa Almond Commonly planted and Native of SE Asia, N. Australia and the naturalized, especially near the Pacific, now widespread, Grand Cayman sea in et areas Tamarindus indica Tamarind Cultivated and naturalized Probably native to tropical Africa, now cultivated and naturalized throughout the tropics and subtropics of both hemispheres 54 Environmental Solutions Ltd. Oyster Bay EIA 4.5.1.1 Coastal Scrubland The Whistling Pine (Casuarina equisetifolia) association tends to be concentrated on a raised beach berm running along the entire northern shoreline in a narrow band up to 600 feet (approximately 200 m) wide. This zone can be divided into three distinct associations as follows: 9 Pure stand of Whistling Pine 9 Whistling Pine and shrub 9 Whistling Pine and mixed forest At the western tip of the site at Bush Cay the area consists almost entirely of the Whistling Pine (Appendix V) growing right up to the waters edge, with few other species present. Further east the Whistling Pine becomes mixed with other coastal vegetation such as the sea grape (Coccoloba uvifera). The dense forest cover eventually gives way to a mixture of scattered Whistling Pine, low shrub and grasses which is interspersed with areas of bare sand. Along the remainder of the coast, to the east, the vegetation once again becomes very dense now being dominated by a combination of Whistling Pine and mixed forest species, including Thespesia, sea grape and buttonwood (Conocarpus erectus). 4.5.1.2 Mangrove Zone In the southern section of the property, behind the beach berm, the area is periodically waterlogged thus providing suitable conditions for the growth of wetland species. In the wetter and more saline areas, particularly at the western side of the property adjacent to Oyster Bay, the Red Mangrove (Rhizophora mangle) predominates with some trees reaching as high as 60 feet (the southern 55 Environmental Solutions Ltd. Oyster Bay EIA section of Bush Cay is composed almost entirely of Red Mangrove), Plate 4.5.2. In some places, there is a sharp transition from the dense stand of fringing Whistling Pine to the equally dense stand of Red Mangroves. Between the pine and the mangroves other species are found distributed based on the degree of wetness of the sand - Buttonwood, and White Mangrove in the dryer areas and Black Mangrove on the fringes of the wetter areas. The two main north-south property roads which transect the open areas are devoid of vegetation and are fringed primarily by the Black Mangroves. These areas lacking in vegetation have been caused by the obstruction of the natural water flow in 1968. These areas contain only relics of what was once a densely vegetated mangrove forest. In the eastern section of the property behind the mixed forest association is an extensive area of dense vegetation dominated by the Red Mangrove. 4.5.2 Fauna The natural wildlife of the area is composed mainly of birds. A number of freshwater birds were observed particularly in the water logged areas. These included Sand Pipers and Common Stilts observed in groups feeding in the shallow waters. Other types of birds such as Herons were also observed. The densely forested areas provide ideal nesting and feeding habitats for migratory birds. The avifauna is largely comprised of waterfowl and other species associated with coastal/wetland ecosystems. Several micro habitats are found in the area including mud flats and salvas, mangrove forests, and coastal waters. A list of the birds reported from this site, the Martha Brae estuary and from on site observations is given in Table 4.5.2 including data from Webber et al 1998. 56 Environmental Solutions Ltd. Oyster Bay EIA The sandy nature of the soil provides the ideal habitat for burrowing crabs such as Uca. Numerous burrows were observed throughout the property. Several species of insects have been reported from the project area and are typical of marine areas and coastal systems. No endangered species were reported from a study by Webber et al (1998). A list of species identified from that 1998 study is given in Table 4.5.3. 57 Environmental Solutions Ltd. Oyster Bay EIA Table 4.5.2: List of Dominant Bird Species Identified on the Oyster Bay Site Scientific Name Common Name Caladris spp. Sand Pipers Himantopus mexicanus Common Stilts Tachornis phoenicobia Antillean Palm Swift Loxipasser anoxanthus Tyrannus dominicensis Yellow-shouldered Grassquit Gray Kingbird Columbina passerina Common Ground Dove Bubulcus ibis Cattle Egret Habitat Several species common on mudflats and beaches, some uncommon winter visitors and transients Common resident in fresh and saline ponds Range and Status Several species throughout C. and S. America and the West Indies Bahamas, Greater Antilles, northern Lesser Antilles, N., C. and S. America. Large flocks of visitors and transients from N. America increase Jamaican populations in winter Lowlands, common near Very common resident human habitations, over golf courses, dry swamps and canefields Common in hills and Locally common resident, An mountains endemic genus and species Open wooded areas, North America, Bahamas, cultivations and gardens West Indies and mainland coasts around the Caribbean Dry limestone forest edges Very common and and clearings, in the plains widespread resident. and foothills, but less Jamaica. C.p. jamaicensis is common in the mountains an endemic subspecies. Pastures and open areas Very common resident. Worldwide 58 Environmental Solutions Ltd. Oyster Bay EIA Scientific Name Common Name Egretta thula Snowy Egret Quiscalus niger Greater Antillean Grackle Vireo modestus** Jamaican Vireo Columba leucocephala Saffron Finch Coerebo flaveola Bananaquit Tringa flavipes Lesser Yellow Legs Dendrocygna arborea West Indian Whistling duck Habitat Common wetlands Range and Status in N. America and the West Indies. Local populations are increased by migrants in the winter Cow pastures, cultivated Jamaica. Q.n. crassinostris land and around human is an endemic subspecies. habitations especially where they are fed. Bushy areas, forest edges Very common. Jamaica. An and roadsides at all endemic species elevations Open grassy areas, Common resident. S. gardens, from sea level to America and introduced to the mountains (except the the Hawaiian islands, highest). Often seen on panama, Puerto Rico and roads, near cattle ponds at Jamaica feeding stations and chicken farms Ubiquitous. Found wherever Abundant and widespread flowering plants occur resident. Jamaica. C.f. flaveola is an endemic subspecies. Beaches, Salinas or Fairly common winter visitor. mudflats N. America wintering south to S. America Mangrove swaps at Resident, probably locally Parottee, Black River Lower common but extremely shy Morass, Negril morass, and rarely seen. Bahamas, Falmouth Swamp, Salt G. Antilles and northern W.I. 59 resident Environmental Solutions Ltd. Oyster Bay EIA Scientific Name Common Name Mimus Polyglottus Northern Mocking Bird Pelecanus occidentalis Brown Pelican Ardea herodias Great Blue heron Tyrannus dominicensis Loggerhead Kingbird Tiaris bicolor Black faced Grassquit Egretta caerulea Little Blue Heron Habitat Island lagoon, Grant’s en, Caymanas Dam Found in winter up to about 600 m, but goes to higher elevations in the summer In coastal waters, on reservoirs, fish farms and marshy areas Common winter visitor in wetlands, a few may spend the summer Open wooded areas, cultivations and gardens Range and Status islands Very common resident. M.p. Orpheus Bahamas and G. Antilles, also N. America P.o. occidentalis West Indies. Also n, C and s America N. America, wintering in W. I. and C. America south to northern S. America N. America, Bahamas, W. I. and mainland coasts around the Caribbean Gardens and open situations T.b. marchii Jamaica, Hispaniola and adjacent island. Other subspecies throughout the Caribbean except mainland Cuba Wetlands Common resident. Bahamas, W.I. and the Americas. Ecological information taken from Downer and Sutton, 1990 60 Environmental Solutions Ltd. Oyster Bay EIA Although the area periodically becomes waterlogged it does not appear that these areas support an abundance of fish life. Some species may live in the predominantly wet areas associated with the Red Mangroves but generally, seasonal variations in water availability and the lack of water exchange with the marine environment reduces the attractiveness of the site for fish species. 4.6 Coastal and Marine Ecosystems The shoreline of the Florida/Bush Cay peninsula consists of Mangrove and Sand Beach environments (Plate 4.6.1). The Mangrove shores are on the south side of the peninsula in Oyster Bay (Glistening Waters) and are almost entirely Red Mangrove. (At one time, Bush Cay which, is predominantly mangrove was separated from the rest of the peninsula). These mangroves are very dense and impenetrable and are unlikely to be disturbed by the development. The sandy beach which is continuous over more than three miles extends from the east of the Starfish Hotel (previously the Trelawny Beach Hotel) in the east to the tip of Bush Cay in the west. As such it is one of the longest remaining stretches of undeveloped beach in Jamaica. The beach consists of white to golden white calcareous sands made up of algal and coral remains. The texture is generally fine to medium size with really coarse sediments occurring in only a few locations. Visually and texturally, the beach is first class. In the late 1960s, in an attempt to improve the beaches and swimming areas, some of the lagoonal areas between the beach and the fringing reef were dredged to 5 ft. depth or more. 61 Environmental Solutions Ltd. Oyster Bay EIA Figure 4.6.1: Coastal Eco Systems 62 Environmental Solutions Ltd. Oyster Bay EIA An extensive and almost continuous fringing reef occurs about 200 - 600 ft. Offshore of the beach. Between the beach and the reef the sea bottom is covered by healthy seagrass beds (Thalassia and Syringodium). These occur almost up to the back reef which, however, is devoid of much live coral. The corals are on the reef flat and breaker zone have been damaged to a great extent by recent hurricanes, but much less so than at Ocho Rios and even Discovery Bay. On the other hand the reef below the breaker zone and lower palmate zone is in reasonably good condition and is still a diverse and interesting environment. 4.6.1 Fore Reef The reef system is situated between 60m and 100m from the shoreline. The fore reef stretches for 2km from Time ‘n’ Place in the east to Bush Cay in the west. A total of 112 species were identified including 22 scleractinian corals, 29 algal species, 8 sponge species,15 invertebrate species and 45 fish species (Table 4.7.1 in Appendix). Coral cover at all three transect were relatively high ranging from 32% at Time n Place, 35% at Split Rock and 30% at Bush Cay. Fleshy macroalgal cover was low averaging 5-7% at all three sites. The substrate was dominated by bare rock. The incidence of the herbivorus Diadema antillarum was also quite noticeable. Density of individuals averaged between 8 m-2 at Time ‘n’ Place to 13 m-2 at Bush Cay. Density of coral recruits recorded were also high ranging from 7 m-2 to 10 m-2 (Table 4.6.2). A list of species identified on the reef and within the coastal waters is given in Appendix IV. 63 Environmental Solutions Ltd. Oyster Bay EIA Table 4.6.2: Percent cover of Benthic substrate and Diadema on the Fore Reef Site Hard Coral Fleshy macroalgae Calcareous macroalgae <5 Crustose coralline algae <5 Time’n 32 6 Spilt rock 35 5 <5 Bush Cay 30 7 <5 Sand/bare rock 55 Coral Recruits m-2 10 Diadema Density m-2 8 <5 50 7 10 <5 52 7 13 Place The reef system at all three sites was similar, with reef buttresses starting at the reef crest. At 3m-6m these buttresses lead into finger like projections (spur and groove) separated by deeper sand filled canyons. These buttresses lead onto a reef flat at 8m-10m, this reef flat is contiguous for approximately 150 m. There is a patchy distribution of corals dominated by the boulder type corals. Algal cover at this depth is higher and the absence of Diadema noticeable, gorgonian density was also seen to be higher. This reef flat then ends abruptly and merges into sheer wall dropoffs leading down to >30m. On the reef buttresses the dominant coral types were plate-like (Agaricia sp) and boulder type (Montastrea). At the transect conducted at the Split Rock the dominant species was the branching Acropora palmata. This species before Hurricane Allen in 1980 was the common reef coral species on the North Coast. The abundance exhibited here is unexpected but indicative of the good health of this reef. The fore reef system can be described as healthy. High coral cover, low macroalgal cover as well as the frequency of the Diadema allows significant coral recruitment. The absence of algae and smothering sediments gives these recruits the proper environment for development and continuity of the reef building process. 64 Environmental Solutions Ltd. Oyster Bay EIA 4.6.2 Back Reef The back reef community is characterized by shallow water between <1m and 3m deep. The substrate slopes gently from a white sand beach into slightly deeper areas and reef flats with sporadic patches of corals. The substrate consists mainly of hard pavement with a thin layer of medium to coarse-grained sand. The pavement is coralline in nature and tufts of turtle grass (Thalassia) are found frequently. Coral recruitment on this substrate is high, dominated by the Porites sp. The other dominant benthic community is seagrass meadows. Extensive in their distribution sometimes extending up to within a few centimetres of the beach front. Three species of seagrass were found Thalassia testudinum (Dominant), Syringodium filiforme (Frequent) and Halodule wrightii (Occasional). The seagrass meadows were punctuated by halos (large sand filled depressions) that were populated with juvenile fish. The dominant invertebrate species was Diadema while Juvenile parrots were the dominant fish species. The seagrass meadows provide an Essential Fish Habitat (EFH) for these reef fish and their importance cannot be over emphasised. The algal community was dominated by calcareous algae namely Halimeda sp. and Galaxaura sp.the incidence of which indicates a fairly healthy reef system. The benthic survey revealed only two suitable areas along the back reef area that were suitable for swimming. The first is located in the area called Florida is shallow and can barely support wading. The second located close to the western tip of the site (Figure 4.6.1) is much more suitable having the necessary depth required 1m –2m and is fairly extensive. Sand in this area is not coarse but has a silt-like texture, the extensive seagrass beds may have a lot to do with this as they are highly productive systems and readily trap sediments as well. 65 Environmental Solutions Ltd. Oyster Bay EIA 4.6.3 Oyster Bay The Oyster Bay area is a shallow embayment extending from the eastern end of the Falmouth Harbour at a depth of 0.6m to a depth of 1.7m. The bay is particular in its significance, as it has been described as having one of the most spectacular displays of bioluminescence in the world (Seliger and McElroy,1968). The organism responsible for the bioluminescence is Pyrodinium bahamense and has been previously reported in numbers of up to 273,000 individuals/ L. Recent anecdotal reports point to a reduction in the brilliance and numbers recorded as recently as 1998 Webber, Edwards and Hibbert saw a decrease to 44,000 individuals. The samples collected were in the Inner Bay at the water quality stations 7 and 8. Along with the enumeration of the individuals, chlorophyll analyses were done to determine productivity of the area. This productivity can be linked to the presence of nutrients in the water column. Average number of cells per litre for site 8 was 98, 297cells/L, at site 7 that number was slightly lower at 94,014 cell/L. The numbers would seem to indicate an increase in the numbers over the last few years. There has been a mechanism put forward to explain the accumulation of the Pyrodinium within Oyster Bay (Seliger and Carpenter,1970), but generally the combination of low flushing, high reproductive rates, high nutrient concentrations from both interstitial sediments and surrounding mangroves can support the numbers reported. Eight (8) species were found and are listed in (Table 4.6.3). 66 Environmental Solutions Ltd. Oyster Bay EIA Table 4.6.3. List of phytoplankton species found at two sites in Oyster Bay Site 7 Site 8 Pyrodinium bahamense Pyrodinium bahamense Ceratium furca Ceratium furca Ceratium fusus Ceratium fusus Thalassionema frauenfeldii Unknown Species A,B,C,D Total Chlorophyll ‘a’ readings recorded were 4.25 ug/L at site 8 and 1.95 ug/L at site 7., (Table 4.7.4). These readings though higher than the recommended international standard of 1 ug/L for oceanic waters could be perceived as normal for an estuarine environment such as Oyster Bay. Previous studies have recorded values less than 1 ug/L (Hibbert,2004 pers. comm.) but these were averaged results over a longer time period. The dominant size fraction was the nanoplankton at site 8 and net plankton at site 7. The significance of this is that Pyrodinimum belongs to this fraction. Table 4.6.4: Total chlorophyll ‘a’ and numbers of Pyrodinium bahamense. Site #7 Average #of Net individuals/L Plankton ug/L 94,014 1.63 NanoPlankton Picoplankton Total ug/L ug/L Chlorophyll’a’ ug/L 0.30 0.029 1.95 #8 98`297 2.26 1.55 0.44 4.25 The Oyster Bay region has as its main threats uncontrolled runoff from businesses and residential properties. The new Northern Coastal Improvement Highway also increases the potential for runoff, on the southern shore of the bay drainage pipes from the highway exit into the Bay adjacent to the Fisherman’s Inn Hotel and Restaurant. The Martha Brae River also plays a significant role, sediments and nutrients are brought from upstream into the Bay. There is the risk 67 Environmental Solutions Ltd. Oyster Bay EIA that if the nature of these inputs change, a loss of the bioluminescence could occur. 4.7 MARINE WATER QUALITY Results The results of the water quality sampling exercise conducted on November 9, 2004 are presented at Tables 4.8.1 below. The locations of the sampling stations are shown above at Figure 4.8.1 Table 4.7.1: Water Quality Data for Oyster Bay, Trelawny, Jamaica SAMPLING STATIONS PARAMETERS 1 2 3 4 5 6 7 8 9 10 NRCA Draft Ambient Marine Standards pH 8.4 8.3 8.4 8.3 8.3 8.3 8.3 8.3 8.3 8.2 8.0-8.44 Salinity (ppt) 36.1 34.9 36.1 36.0 19.5 6.0 32.2 34.9 6.8 6.2 - Dissolved Oxygen 5.6 6.0 6.6 5.8 6.1 6.5 5.2 5.9 6.2 6.4 4.5-6.8 BOD (mg/L) 2.0 6.0 1.0 1.0 1.0 7.0 1.0 1.0 1.0 1.0 0.57-1.16 Nitrate (mg/L) 0.25 0.99 0.24 0.07 2.79 1.12 0.68 1.67 4.77 2.36 0.001- (mg/L) 0.081 Turbidity (NTU) 0.29 0.67 0.66 0.79 4.64 4.12 6.99 4.38 4.63 31.1 - Phosphate (mg/L) 1.1 0.01 0.04 0.06 0.2 0.03 0.03 0.1 0.03 0.03 0.0010.055 Oil & Grease 2.0 1.0 0.9 1.6 1.1 2.0 2.3 0.9 1.1 1.5 - <3 3.0 <3 <3 1100.0 460.0 43.0 75.0 1100.0 460.0 48-256 <3 <3 <3 <3 <3 240.0 <3 7.0 21.0 43.0 <2-13 (mg/L) Total Coliform (MPN/100ml) Faecal Coliform (MPN/100ml) 68 Environmental Solutions Ltd. Oyster Bay EIA Figure 4.7.1: Location of Sample Stations 69 Environmental Solutions Ltd. Oyster Bay EIA It must be stated for the record that the following discussion is based on data generated from only one sampling exercise. Therefore, no conclusive inferences can be drawn from the limited data although it does provide a good indication of the current status of water quality in Oyster Bay. The current data is compared with the historical water quality data from the North Coast Highway Monitoring Project -Martha Brae River [Environmental Solutions, 2003] and the Ecological Assessment for the Martha Brae River Estuary/Wetland Management Project [Webber, Edwards and Hibbert, 1998]. Oyster Bay, also known as Glistening Waters on the north coast of Jamaica is one of the world’s most brilliant bioluminescent bays. This bay shares some similarity to Mosquito Bay in Puerto Rico. Mosquito Bay is described as one of the world’s healthiest bioluminescent bays. Both bays have been studied extensively by scientists from John’s Hopkins University. Mosquito Bay is surrounded by mangroves, and is very shallow at its entrance. The mouth of the bay is situated in such a way that the currents allow ocean waters to enter the bay. The shallowness of the bay results in high evaporation, with the saltier surface water sinks to the bottom. This heavier water moves out to sea and the surface waters which are abundant in plankton flow into the bay bringing populations of Pyrodinium the dinoflagellate responsible for the bioluminescence. [www.stjohnbeachguide.com/Vieques_HTML/Bioluminescent_Bay.html] and [Grasso in Verde, 1993]. Vitamin B12, the essential nutrient for dinoflagellates is produced by scavenging bacteria from the rotting detritus from the mangroves. Because of the shallowness of the bay, B12 and other nutrients stay in the bay rather than being flushed out [Tom Verde, 1993 (www.biobay.com)]. This balance is very delicate, if the rate of flushing of the bay increases or the nutrient balance is altered then the Pyrodinium population may decline considerably. A bioluminescent bay in Hawai and the Bahamas suffered severe damage because of changes in the 70 Environmental Solutions Ltd. Oyster Bay EIA water movements in the bay. Oyster Bay should be managed with the intention of preserving or regenerating existing stocks of Pyrodinium. The water quality data generated for the present study as well as the historical data is presented in the following sections. ◊ Salinity and Conductivity Salinity measurements at the coastal stations, Stations 1 -4, ranged between 34.9 and 36.1 psu. These are typical of Jamaican coastal waters. The salinity regime in Oyster Bay is somewhat unsual. At the mouth of the Falmouth Harbour the surface waters are brackish reflecting the influence of freshwater inflowsfrom the Martha Brae. North of the bay near the thickest wetlands the surface water is fresh. Similarly, south of the bay near the boat dock the water is also fresh. At Stations 7 and 8, center and northeast of the bay the water is pretty saline 32.2 and 34.9psu respectively. Research has shown that the salinity balance in bioluminescent bays is also a critical environmental factor for the health of dinoflagellates [www.stjohnbeachguide.com]. The proposed discharge of treated sewage effluent to the mangroves should be evaluated, to ensure that the salinity balance in the bay is not adversely affected. ◊ Dissolved Oxygen (DO) Dissolved oxygen concentrations at almost all the stations sampled is at or near saturation levels. ◊ Biochemical Oxygen Demand (BOD5) BOD levels in excess of 2.0 mg/l indicates elevated organic loading, which is a cause for concern. The BOD levels at all stations sampled were within the required guideline except at Stations 2 and 6, waters off Time and Place and Oyster Bay North, respectively. 71 Environmental Solutions Ltd. Oyster Bay EIA ◊ Oil and Grease The oil and grease level recorded for each station were all within acceptable levels <2 mg/l. ◊ Total and Faecal Coliform Faecal coliform bacteria counts are used as indicators of the presence of pathogenic organisms. The generally accepted limit for faecal coliforms in human contact waters is 100 MPN/100 ml. Coliform bacteria levels were all within the recommended limits except at Station 6, Oyster Bay North. ◊ Turbidity Turbidity measurements are good for the coastal stations, Stations 1-4, ranging between 0.07 and 0.99 NTU. Turbidity levels at the stations within the bay are elevated, ranging between 4.12 and 6.99 NTU. The highest turbidity level (31.1NTU) was recorded at Station 10, the mouth of the Martha Brae River. ◊ Nitrate Nitrate levels are also used as an indicator of contamination by wastewater from sewage and/or fertilisers from agriculture. Nitrate levels in coastal waters higher than 1 micro-mole (µM) or 0.65 mg/l NO3 usually indicate nutrient enrichment from one or both sources. Nitrate concentrations exceeded 1.0 µM at all stations sampled, with a maximum of 73.0µM measured at Station 9, south of the bay near the boat dock. Nitrate concentrations within the bay generally ranged between 10.5 and 43.0 µM (0.68 and 2.79 mg/l). In the coastal waters the nitrate concentration was somewhat lower, ranging between 1.08 and 15.2 µM. Similar high nitrate concentrations were recorded during the Webber, Edwards and Hibbert study in 1998 (Appendix III). During this study nitrate levels in the bay reached a high of 91 µM, while at the mouth of the Martha Brae a concentration of 200µM was recorded. The data 72 Environmental Solutions Ltd. Oyster Bay EIA for the Martha Brae reported by Environmental Solutions (Appendix IV) also support the current findings. The data show that nitrate enrichment in the coastal waters and within the bay is considerable. At present the dissolved oxygen levels are good, this could easily change with any alteration of the present environment, such as change in the flow or addition of an additional nutrient source(s). ◊ Phosphate Of the ten stations sampled phosphate concentrations are elevated at only four stations. Of these four stations only Station 1 has very high phosphate levels. The Environmental Solutions Martha Brae data as well as the Webber, Edwards and Hibbert report showed similar results. Phosphate is clearly the limiting nutrient in this ecosystem. The introduction of phosphate rich effluent from the proposed sewage treatment plant could impact the delicate balance that now exists in Oyster Bay. ◊ Chlorophyll a Chlorophyll is the pigment that allows plants (including algae) to convert sunlight into organic compounds (photosynthesis). Clorophyll a is the predominant type in algae and its concentration in the water column is used as a substitute for the actual measurement of algal biomass [USEPA 2004]. Chlorophyll a (Chl a) is thus used as an indicator of the primary productivity of an area. High Chl a levels indicate the presence of blooms. The use of target Chl a levels as indicators of eutrophication is region and area specific. The USEPA based on the findings of the Chesapeake Bay study use Chl a levels up to 15 µg/l to indicate good quality waters, while Dr. Brian Lapointe indicates that Chl a levels of 0.7µg/l exceeds the critical threshold for eutrophication of coral reefs [Lapointe cited in Smith-Shirley 2004]. 73 Environmental Solutions Ltd. Oyster Bay EIA Chlorophyll a measurements were done for Stations 7 and 8, with the higher concentration of 4.25µg/l measured at Station 8. This station clearly has a higher level of productivity and it would be interesting to determine the reason for its productivity in comparison to Station 7. The extent of productivity at the different salinity zones within the bay should be investigated to assess the optimal salinity regime. Summary The water quality data obtained from the present investigation confirms data obtained during the 1998 Webber, Edwards and Hibbert study and the Martha Brae data [Environmental Solutions, 2003] and validates the concerns regarding the delicate ecological balance in Oyster Bay. High suspended solids loading, resulting in a shallow harbour, appreciable nitrate enrichment and low phosphate levels within a complex salinity regime contributes to the health of the dinoflagellates in Oyster Bay. Any disturbance of this fragile ecosystem may cause irreparable damage to the Pyrodinium population. The phytoplankton assessment conducted during this current study indicates that there is an increase in the Pyrodinium population (when compared with the Webber, Edwards and Hibbert Study). This should be encouraged. The Martha Brae River empties into the Falmouth Harbour and discharges significant amounts of total suspended solids and nutrients. The combination of river discharge, other surface drainage and surface/groundwater discharges from the proposed development, if not properly managed, has the potential to significantly impact the water quality of the bay and coastal waters. 74 Environmental Solutions Ltd. Oyster Bay EIA 4.8 NATURAL HAZARD VULNERABILITY The proposed resort site is located along the north coast of Jamaica and is exposed to the coastal hazards of storm surge associated with hurricanes as well as tsunami. The site is also susceptible to high velocity winds produced by hurricanes and earthquakes. 4.8.1 Hurricane storm surge, high velocity wind and tsunami Jamaica lies in the path of tropical weather systems that form in the Atlantic and Caribbean basin from June to November each year. These systems range in intensity from tropical waves to full blown hurricanes of varying strength. These tropical weather systems move westwardly through the Caribbean region. Figure 4.8.1 illustrates the historic tracks taken by hurricanes over the 1962 to the present. These weather systems generate intense sustained rainfall and elevated wind speeds that are most intense when they develop into hurricanes. The low atmospheric pressures and high winds associated with hurricanes generate elevated sea levels and high energy waves referred to as storm surge. Hurricanes passing over or close to the coastline will generate storm surge waves causing accelerated erosion and inundation of low lying areas along the coastline. Storm surge analysis was conducted as part of a coastal dynamics study Appendix I, for this location. The results indicate that storm surge wave heights of 5.7 to 6.6 meters can be generated offshore from 50 and 100 year hurricane events. The effect of the offshore bathymetry especially the presence of fringing reefs was shown to reduce the potential maximum storm surge wave height at the shoreline to 3.7 meters for a 50 year event and 2.3 meters for a 20 return period. 75 Environmental Solutions Ltd. Oyster Bay EIA 4.8.1 – Historic Hurricane Tracks Across Jamaica – 1880-1988 76 Environmental Solutions Ltd. Oyster Bay EIA The site is susceptible to high velocity winds generated by hurricanes which can be in excess of 150 miles per hour. The site is at sea level and is flat and therefore will not experience accelerated wind speeds due to topography. However the absence of wind barriers will result in full exposure to high velocity winds in the event of a hurricane passing over or close to the north coast of Jamaica. The north coast of Jamaica is susceptible to deep oceanic waves called tsunami that are generated by submarine earthquakes, volcanic eruptions and landslides. While the exact nature of the potential sources and possible magnitude of tsunami that could affect the north coast is not known, the project site is exposed to this threat. The occurrence of a tsunami would result is extreme shoreline erosion and inundation of the entire project site. The effect of long term sea level rise will exacerbate the potential for coastal flooding and tsunami. The estimated rise of mean sea level over time has been estimated to be in the order of 0.25 meters. 4.8.2 Seismicity Jamaica lies in a seismically active area close to the northern boundary of the Caribbean tectonic plate and is therefore susceptible to earthquakes. The island has experienced destructive earthquakes generated offshore and on land associated with active geological features. Probabalistic analysis of historic seismic activity in Jamaica has been carried out by Periera et al (1986). The seismic hazard map of Jamaica shown as Figure 4.8.2 indicates the number of earthquakes magnitude 6 or greater that have occurred throughout the island since 1962. The project site lies in an area of relatively low activity but is still susceptible to damaging ground shaking from earthquakes with historical magnitudes 3. 77 Environmental Solutions Ltd. Oyster Bay EIA Figure 4.8.2: Seismic Hazard Map of Jamaica 78 Environmental Solutions Ltd. Oyster Bay EIA 4.9 SOCIO-ECONOMIC ENVIRONMENT 4.9.1 The Tourism Context of The Project Based on figures supplied by The Jamaica Tourist Board, there are currently only 3 large hotel properties in Trelawny. Two are neighbouring properties to the Project and are located in close proximity to Oyster Bay. As reflected in Table 4.9.1 the Project, upon completion, will more than double the rooms currently available from these properties and will account for 63% of the total hotel rooms available, prior to the advent of Harmony Cove. Table 4.9.1: Large Hotels In Trelawny Property Grand Lido Braco Star Fish Resorts FDR Pebbles Oyster Bay on completion Totals Trelawny, St. James & part of Hanover Trelawny No. Of Rooms 2003 186 Guest Nights 2003 95,234 350 % Of Total Rooms 7 % Of Total Guest Nights 30 196,221 12 61. 526 1,800 28,595 - 18 63 9 - 2,862 320,050 100 100 5,877 2,14 7,471 100 100 49 Oyster Bay included 11 Oyster Bay excluded Montego Bay, accounts for 31% of visitor arrivals to Jamaica. The four main hotel properties in Montego Bay lying closest to the Project, and about 15 minutes away by the new Highway, account for just under 40% of all visitors to Montego Bay. The Project, must therefore be seen as significantly contributing to the eastward expansion of tourism along this expanding corridor. With the completion of the Harmony Cove complex at Braco, which will comprise 3 hotels 79 Environmental Solutions Ltd. Oyster Bay EIA and villas, Trelawny will be importantly repositioned in terms of its contribution to the industry. 4.10 THE COMMUNITIES AROUND THE PROJECT The communities comprise a mix of both villages and rural towns, and include the important commercial and government agencies that operate in or close to them. These communities are: • Coopers Pen • Rock • Hague • Martha Brea • Falmouth Other than contextual comments, only community features and information considered relevant to the Project are addressed for each community. These are grouped under the headings: Demographics, Land Use & Livelihoods, Developments Underway and Heritage. Where necessary, a comment is included. Issues pertinent to the Project, but shared in common with this part of Trelawny are dealt with separately under the headings Public Health & Safety, Water Consumption and Flooding. A Conclusion discusses the main negative impacts associated with the Project, such as housing needs and training, and recommendations for addressing these are offered. The Project itself, is being developed on a Greenfield site with only one or two small squatter structures in evidence. The Project should have no difficulty in negotiating their relocation from the site in a mutually acceptable manner. No resettlement planning is required. 80 Environmental Solutions Ltd. Oyster Bay EIA 4.10.1 COOPERS PEN Coopers Pen is a seaside village located less than 2 miles east of the Project site. More recently the impetus to its growth has come from the presence of the 350 room Starfish Trelawny hotel, originally Trelawny Beach Hotel. Demographics From observation and information offered by residents, the population is about 400 with about 65% under the age of 40. The average size household is estimated at 6 persons and females are estimated to head 65% of households. The dependency ratio is likely to reflect that 6-7 persons out of every 10 are economically dependent on the rest. This would still be lower than the parish actual of 75%. The profile therefore, of Coopers Pen is of a relatively poor, lower income coastal community, with a high proportion of youth and female headed households. This demographic profile, is generally representative of the coastal communities found in the Parish. Its implication in relation to Project impacts, is dealt with in the Conclusion. Land Use and Livelihoods The main land use is residential. Land use density within the community is dominated by Starfish Resort, with both community residences and the much smaller fishing beach accounting for the remainder. Agricultural production is of minimal importance, though no clear sense of illicit drug cultivation emerged. A striking contrast is the co-existence of the hotel property and the surrounding sub standard residential housing. Coopers Pen itself comprises an older, sea-fronting section which includes a fishing beach and a newer unplanned community on land, edging the new north coast highway. Livelihoods inside the community come mainly from a mix of poorly constructed corner shops, entertainment 81 Environmental Solutions Ltd. Oyster Bay EIA venues and eateries. Unemployment and underemployment are reported as being very high. One resident and shop keeper of many years, estimates permanent employment at 20%, with half of the jobs being in the hotel and the remainder within the community or outside of it. The remaining 80% it was felt, were hustling in craft, fishing and other construction type occupations. Some coal burning is also undertaken. The presence of the hotel was seen as an important source of income for the community, as tourism spending filtered down through curio & food vending, transportation, and such few labouring or domestic occupations as found employment in the hotel. The fishing beach berths approximately 30 boats, of which about 15 were in evidence on visiting. It is a NEPA licensed beach and supports about 50 fishermen. In common with Rock fishing beach to the West, line, trap, net and spear fishing are practiced. The fishermen spoken to were articulate in relation to the Project. They drew on their own experiences with the construction of Trelawny Beach to support their concerns for the Oyster Bay development. These included warnings of the depletion of the mangroves which the built environment brought with it. They cited their experience of serious reef damage and fish depopulation arising from poorly treated sewage effluence and chemical contamination by the original Trelawny Beach Hotel. In this respect, the renamed, Starfish Resort is seen as an improvement. They felt that Jet Skis within the Lagoon should be impermissible due to both oil and noise pollution. Similarly, the creation and management of any artificial beaches must ensure that sand is not simply removed from one location and transferred to another, as also happened when groins were built by Trelawny Beach. 82 Environmental Solutions Ltd. Oyster Bay EIA The fishermen made reference to a earlier planned protest against Starfish Resorts, which was only aborted when management stopped relocating sand from the fishing beach to the hotel beach under threat of being reported to NEPA. The killing off of sea grass in order to create bathing spots, is another danger they point to, based on their own experience. As at Rock, further East, the fishing beach is said to be growing in size. Hurricane Ivan was not regarded as having a serious negative impact on the beach. Most fishermen have their homes within or nearby the community and not on the beach. However, no sanitary conveniences or fresh water sources were observed on the beach. The fishers are affiliated to the Falmouth Fishermen’s Co-operative. Lying between the community and the Project area is FDR Pebbles, operated by the FDR chain of hotels. This property comprising, 96 rooms, employs approximately 250 staff, mainly drawn from outside of the community because of the hospitality skills needed. Developments Underway The only pending development identified, is the Greenfield Cricket Stadium project. This is to be located, within a few miles of the project and will impact several communities in the area. The US$20M-US$35M development is to be on approximately 40 acres. To the extent that Greenfield may also offer venue facilities in other sports, the Project should benefit from its proximity. Retreat Heights, a high income residential community, has developed a few miles East of Coopers Pen, and comprises about 50 upscale houses on individual lots, many with commanding ocean views. Construction is active and at least another 50 units can be accommodated in the scheme. Its significance to the Project, is that any major hotel development between Falmouth and Rio Buena, is likely to find executive type accommodation in the development. 83 Environmental Solutions Ltd. Oyster Bay EIA Unfortunately this is not the same situation facing the housing needs of low income workers of the Project, as is discussed below. Heritage The community members spoken to were not able to point to any special heritage features within the community. However there are in fact several interesting heritage sites in close proximity, that, if enhanced, could be of benefit to the Project. - At Spring Gardens Estate, just beyond the entrance to Retreat Heights, are preserved elements of an old sugar estate. - A few miles beyond Spring Estate, are the remains of a once very imposing fortified great house known as Stewart Castle built around 1750. It is under the care of the National Heritage Trust. - Further along, in the environs of Duncans, several points of historical interest await the visitor. Comments The extent of the exchange of benefits between Coopers Pen and the Project, is uncertain, more so if the property is managed as an all-inclusive one. It is likely that the construction phase may contribute some work to the community. This would be more certain, if training programs offered by HEART could somehow be accessed by unemployed community members. The experience of the North Coast Highway, which has not provided very much employment to the community, points to the uncertainty of jobs necessarily materializing from major projects. The relatively small numbers of persons from within the community currently working at Starfish Resort, is a second indicator. The skills pool required in hotel construction and operations is unlikely to exist outside of a special training initiative targeted at the community. 84 Environmental Solutions Ltd. Oyster Bay EIA Tourism spending on craft, entertainment and food, will contribute some income. However this may not lead to a corresponding increase in social development as is discussed below. In addition, communities that are closer (for example Rock) and certainly Falmouth, will likely enjoy a greater share of income flows that leave the property. 4.10.2 ROCK This unplanned community lies less than two miles to the West of the proposed development. Formerly an important port, it now supports a number of small and micro businesses, a fishing beach, but is essentially a residential dormitory of Falmouth. Demographics From observation and information offered by residents, the population is about 500 persons, although the STATIN data puts the 2001 population of the 3 Electoral Divisions containing the entire strip as well as Hague and Martha Brea at 1,600. The population profile is reported as being very similar to Coopers Pen, being relatively young, with a high percentage of females, and with the majority of households headed by females. It can be inferred that a similar dependency ratio applies. The assessment of land use, livelihoods, public health and safety, which follow, suggest that because of proximity, some positive benefits may arise from the Project as a result of both indirect income and direct employment generated. This however, is unlikely to translate into really consequential and sustainable development for this community unaided by very focused integrated planning between the developers and government agencies as suggested below. An indirect, but real threat that the Project poses for Rock, is the risk of outside settlers further burdening the inadequate housing and other social infrastructure in the community. 85 Environmental Solutions Ltd. Oyster Bay EIA As mentioned earlier and elaborated on below, large developments drive the expansion of existing low income communities near the developments and in some cases spawn new squatting communities. Because Rock is an established lower income community, it will be the prime focus of new settlers. The majority of these new settlers will probably not be hotel workers seeking accommodation, but persons seeking income earning opportunities associated with major tourism infrastructure. Land Use and Livelihoods The main land use is residential although there is a small fishing beach, which also provides temporary berthing for pleasure boats. The community lies along the original main road, with a ramp up onto the North Coast Highway. Like Coopers Pen, the village comprises a mix of poorly presented shops, entertainment venues and eateries, but also including auto repair shops, barbering and hair dressing establishments. In all about 200 structures were counted. The fishing beach, which community memory puts at over 100 years of age, comprises a small sandy beach. About 10 fishing boats are berthed, several giving the appearance of being un-seaworthy. There are about 15 regular fishers. The Lagoon is said to contain Mullet, Shad, Grouper, Snapper and Jack. Fishing is regarded as an important part of the economy of the community. Residents estimated that about 60% of the community relied on fishing for some part of their income. Fishing, construction work and tourism were given as the main sources of livelihoods but unemployment and underemployment were reported as being very high. With respect to tourism and the Project, the community is very aware of the uniqueness and main attraction of the bay. One younger member of the group 86 Environmental Solutions Ltd. Oyster Bay EIA correctly attributed the name ‘dinoflagellate’ to the micro organism Pryodinium bahamene to which the famous phosphorescence effect is attributable. The older fishers, volunteered that the decline of the dinoflagellate population coincided with the operations of a tie dye factory, which, over a period of several years, emptied its waste chemicals into the bay. The technical section of this report however does not fully support the perception. Hurricane Allen also did extensive damage to the bay’s ecosystems. An interesting consensus, was that the population of dinoflagelattes has fully recovered, but the luminosity once observed easily, is now severely compromised by the lights associated with the built environment. One community member (perhaps repeating a guided tour presentation) referred to the John Hopkin’s University study on the ecology of the bay, undertaken in the “early 60’s” Subsequent documentary research confirmed, that this study was undertaken by a team led by Dr. William D. McElory a world authority at the time on bio-flourescence. It was conducted over several years and involved the setting up of a complete research laboratory. The proposed project was rated as ‘badly needed’ by community members, and seen as a potentially important contributor to the development of the community. It was also felt that the community had the vision and capability of preparing itself to offer various visitor attractions to the hotel. Entertainment, rafting tours and restaurants were seen as the main vehicles for offering this. The community members and fishermen, were not as vocal in their concern for the protection of the Bay as were the fishers at Coopers Pen, perhaps because of the absence of any recent major construction activity around the bay. They regard silting of the bay as the major threat, they claim that the Martha Brae river is increasingly loaded with sediments and support this observation by pointing to how shallow the lagoon has become. 87 Environmental Solutions Ltd. Oyster Bay EIA Lying East of the community, are a number of hospitality properties, the best known of these being Fisherman’s Inn and Glistening Waters. These properties offer visitors a mixture of accommodation, boating and fishing, and dining. The community was aware of the planned development, if not in any detail. However they were unaware of any other pending projects, other than the completion of the North Coast Highway and the sports facility. Heritage The beach contains traces of a little known historical landmark, the remnants of an old sugar wharf discernable on the beach. This dates back to the days when Rock was the port for the original parish capital of Trelawny, Martha Brae. Rock was originally settled by an American John Mitchell, who gave the Project site its name, ‘Florida’. Associated with this period, is also a prominent stretch of old wall, which borders a guest house by the name of Taylor’s Bodmint. The property also forms part of the land settled by Mitchell. The beach was also the departure point for Jason Whyte, a teenaged community member, who came to national prominence after drifting alone for days, after the death of his father on a fishing trip. Eventually rescued by a passing ship, Jason returned to a heroes welcome, and although no longer residing in Jamaica, remains both the subject of a book, and a national icon of heroism. It is not anticipated that heritage remnants within the community will be adversely affected by the Project. 4.10.3 HAGUE This residential community lies about 3 miles South West of the Project site, on the road to Martha Brea. The community is centered on the Hague Housing Scheme, which comprises about 200 lower middle income units. The community 88 Environmental Solutions Ltd. Oyster Bay EIA is a dormitory community of Falmouth on which it relies for nearly all social services. It is best known for its annual Agricultural Show, which in recent years has been trying to recover its former status as a showcase for agricultural produce in the western parishes. Demographics The population of this community is about 600. The average size household is reported to be about 6 persons, and females are estimated to head 60% of households. Demographically, the profile of Hague is one of a relatively under serviced lower middle income community, with pockets of low income settlements. Land Use and Livelihoods The main land use is residential. Land use density within the community is dominated by the large housing scheme mentioned earlier. Agricultural production appears to be of minimal importance to the community, though the large agricultural show ground is maintained. There are two important manufacturing entities located in the community. The largest is Windmill Garment Manufacturers & King Pepper Products a food processing establishment. However, employment in these companies is mainly drawn from the parish and not the community. Unemployment is not considered high, since most housing scheme residents are employed outside of the community. However there is a growing pool of unemployed youth, centered mainly on Hague Settlement, a once Operation Pride Project, which lies just Southwest of the housing scheme. This comprises a population of about 250 low income residents in an upgraded squatter community. 89 Environmental Solutions Ltd. Oyster Bay EIA The Project is viewed positively as a source of potential income by the community. This would arise as tourism spending filters outwards through curio & food vending, transportation, and project employment. Community members were not clear on what Hague itself, could offer the Project by way of tourist attractions, except the annual agricultural show. It was surmised that the Project’s demand for agricultural produce, could give impetus to agricultural production in the Parish, and thereby the annual show. Developments Underway There is a current PRIDE project underway at Cave Island, above and to the eastern side of the Hague housing scheme. When completed it will provide just under 400 upgraded lots. To date it has handed over 286 titles. It represents one initiative that will contribute to upgrading housing conditions in the wider Project area. Heritage The community members spoken to were unaware of any special heritage features close by, that could enhance the marketing of the Project. However as they lie on the shortest route to the starting point for rafting on the Martha Brea there is some potential for developing community based eco tourism attractions and vending opportunities to take advantage of their location. Comments Hague will share in the general economic benefits brought about by the Project, but has no special claim to these benefits. Nevertheless, it is a community of lower middle income occupational skills, which could confer an advantage as a source of clerical, administrative and technical skills to the Project. The alignment of the new highway, allows the community easy access to the Project area. One 90 Environmental Solutions Ltd. Oyster Bay EIA possible threat to the community, could be an influx of construction and post construction workers seeking housing accommodation in the two PRIDE schemes. Hague Settlement (the former PRIDE project, already shows the potential for reverting to a predominately squatter community. 4.10.4 MARTHA BRAE Martha Brae is another dormitory residential community to Falmouth. It lies about 6 miles South West of the Project area. Once the north coast highway is completed, the traveling time between the Project area and Martha Brae will be under 5 minutes. The community is of historical importance, being the former capital town of Trelawny, and considered the site of a Spanish settlement called Melilla. It is one of the main gateways to southern Trelawny, an agriculturally and heritage endowed part of the Parish. The community itself is surprisingly compact and lacking in civil infrastructure, belying its well known name and historical associations. Demographics The population of this community is about 1,000. The average size household is reported to be about 5 persons, and females are estimated to head 60% of households. The population is reported by members, to comprise mainly the middle aged and the very young. Young adults tending to leave the community for more developed urban centers. Land Use and Livelihoods The main land use is residential. Members characterize the community as one in which ‘outsider workers’ come to find accommodation. There are no important manufacturing entities located in the community and only a few small, sole proprietor service type businesses. cited as the locations in which Falmouth, Duncan's and Montego Bay are community members seek work. 91 However, Environmental Solutions Ltd. Oyster Bay EIA unemployment is reported to be high among the labouring class, which comprises mainly construction and domestic type skills and other hustling occupations. The Project was viewed positively, and as a source of potential income for the community. Rafting, sightseeing, transportation, and direct project employment were viewed as the most likely activities for achieving this. The center of rafting activity lies just on the outskirts of the community. The main attraction is a 90 minute 3-mile raft ride on the Martha Brae, as it winds through the Martha Brae river valley on its way to the lagoon (Oysters Bay). Rafters Village, which is the starting point of the journey, is a well appointed and spacious parkland, offering a variety of attractions to the visitor. According to management, it has resources to accommodate up to 140 visitors on the river, at any one time. It is an important source of employment in this part of Trelwany, providing income earning opportunities to about 35 raft captains and about as many supporting personnel. The William Knibb Memorial High School, is located just at the border of the community. In recognition of the growth in the hospitality sector, they are introducing in the 2004-2005 school year starting in Grade 10, a revamped Home Economics program to include core hospitality courses. They anticipate graduating about 20-30 students annually once the programme is underway. In addition, for the same reason, Spanish is now taught throughout the school. Developments Underway The community was not aware of any pending developments that would impact the Project, other than completion of the Highway. Heritage Access from the Project to several well known heritage sites and points of interest, will lie through Martha Brae. 92 The community therefore has some Environmental Solutions Ltd. Oyster Bay EIA potential for developing community based tourism attractions and vending opportunities to take advantage of its location. These sites include: - the old town bridge across the Martha Brae River and - the old Falmouth Company’s disused Persian Wheel preserved beside it. - Potosi with its crumbling sugar works and plantation relics. - The ruins of the Retreat Great House and - the sugar works of Hampstead Estate. - The eighteenth century restored plantation house of Good Hope Property and its many other well preserved estate buildings. Until recent times Good Hope was operated as a hotel. - The Windsor Cave, about 10 miles from Martha Brea, is one of Jamaica’s longest explorable cave systems (about 1.5 miles in length) and a once popular and much promoted visitor attraction. Both the communities mentioned and the Project, will need to seriously assess how these heritage assets can be exploited to best advantage. Comments Martha Brae should benefit from the Project, particularly as rafting should prove an important attraction to the hotel’s customers. It is a community of lower middle income occupational skills, so it could provide a source of clerical, administrative and technical skills to the Project. However, as commented on earlier, this is more likely to materialize if a purposeful and targeted training opportunity is developed in association with training agencies such as HEART. A threat to the Project could be the influx of construction and post construction workers seeking housing accommodation in the squatter community of Zion. This large and growing settlement lies just West of Martha Brae. The new Highway 93 Environmental Solutions Ltd. Oyster Bay EIA will give it easier access to the Project site, and if such an influx is not managed properly could further exacerbate the already deteriorating social infrastructure. 4.10.5 FALMOUTH Falmouth is the parish capital, and as its administrative and commercial center it will probably be the community most positively involved with the Project. Demographics The population of Falmouth was 8,188 at the time of the 2001 Census. Between 1991 and 2001 its population had grown by only 1.85 %. This compares with a 51 % change in the population of Ocho Rios over the same period and a 13% change in the population of Montego Bay. Growth in population, even allowing for the redefinition of some boundaries, must be viewed as relatively slow, when compared with Jamaica’s overall rate of growth of 5%. It is likely that population growth will increase more rapidly as tourism development in the parish takes place, as has been the pattern elsewhere. Between 1991 and 2001 there has been a net loss of about 7,100 persons from the parish mainly to KMA, St. Catherine and St. James. This movement may also be slowed. In two respects the demographic profile of Trelawny, underscores the uncertainty of Project employment benefits to the communities. Fifty one percent (51%) of the age 15 and over population is reported as having been exposed to some secondary level of education, the second lowest percentage among all parishes. Similarly for university level training Trelawny has the second lowest ratio at 1.22%. Although overall demographic characteristics are unlikely to have a direct impact on any individual project, they do reinforce the data collected in the communities, that point to high unemployment among youth, low levels of economic activity and low job skills. The demographic data underscores the challenging social 94 Environmental Solutions Ltd. Oyster Bay EIA environment in which the Project will operate. Land Use and Livelihoods Land use in Falmouth is shared between commercial and residential activity. It is an important market center for produce distributed throughout the parish, and as earlier mentioned is the administrative capital of the parish. Employment covers the full spectrum of large town occupations. Tourism though present, is not the main source of its revenues, since most tourist traffic transits the town on the way to Ocho Rios or Montego Bay. With the completion of the Highway, which bypasses the town, this trend is likely to be intensified. The project is likely to draw on the pool of construction, domestic, administrative, technical and managerial resources that are associated with any large town of this size, if not for its full needs, certainly for some proportion of it. If the Project promotes the unique heritage assets found in the town, particularly its rich Georgian architecture, it would be supporting the comparative advantage in heritage tourism that Falmouth shares with only Spanish Town, Kingston and Port Royal. Public Health & Safety In this and subsequent sections, issues pertinent to the Project, but shared in common with the communities are dealt with. Garbage collection in all of the communities is undertaken regularly by Western Parks & Markets. Hague Settlement reported that irregular scheduling led to frequent burning by residents. Sanitary conveniences are mainly a combination of pit latrines and flush toilets although none of the residents in the communities felt that human waste was entering the lagoon or sea via gullies or waterways. In Coopers Pen, for example, the juxtaposition of the squatter community which 95 Environmental Solutions Ltd. Oyster Bay EIA slopes towards the sea, and the degraded algae covered fringing reef as reported by the fishermen, suggests the impacts of nutrient loading of that bay. In Rock where 100% of toilet facilities run to pits, the degraded wetlands bordering the area which might otherwise have offered some filtration, suggests that this may be all source of nutrient loading into the lagoon. There is only one sewage treatment plant in Falmouth, which was built to serve Falmouth Gardens (a housing scheme of about 150 units) but to which the hospital and food market have also been connected. The remainder of the town uses flush toilets. Again, because Falmouth itself is at sea level (some anecdotal reports place it below sea level), sewering the town is an urgent public health prioirty. The nearest health facilities available to the communities are in Falmouth, where a Type C Hospital is located. Falmouth also has a Type 4 Health Clinic, which is considered adequate for serving the needs in this area. Falmouth has the only fire station in the parish but this station has only one unit. Fire services must be considered totally inadequate in the event of there being a significant occurrence, not to mention a multiple event. Considering Falmouth’s heritage assets, this situation is deplorable. However, because of pending tourism and sports developments in the parish, plans are underway for a new station in Falmouth. With respect to both police and postal services for the communities, these are centered in Falmouth. A potential health problem for the Project, or at least one that will pose a nuisance, is the mosquito population in the wetlands. This has proved a challenge to both Pebbles and Starfish. Yet another anecdotal story claims that after Ivan, sevaral garbage bags of dead mosquitoes were removed from the foyer of one of these properties. A month long ‘fogging’ program, at a cost of J$50,000 commenced post Ivan, and covered the coastal strip between Silver 96 Environmental Solutions Ltd. Oyster Bay EIA Sands and Greenwood. A sustained mosquito eradication program is required if this problem is to be contained. Water Consumption The communities are supplied water by NWC and in each community, the service is regarded as adequate. Most dwellings are reported to be metered. Trelawny is regarded as having more than adequate water resources. These resources exist in the Martha Brae River Basin, from which the parish satisfies its needs but also exports water. The following figures are based on the 1990 Master Plan of the Water Resources Authority of Jamaica. Table 4.10.5: MCM/Year Martha Brea Supply: River Basin Average Yield Supply: Consumption: Unused : Reliable or Reliable or Safe Yield Safe Yield Surface Water 279.4 19.7 1.4 18.3 Ground Water 202.1 150.6 22.6 128.0 Total 481.5 170.3 24.0 146.3 The NWC maintains two main treatment plants. Treatment Plant #1 (as it is referred to) is located on the Martha Brea to Perth Town Road. It is responsible for supplying treated water from Coopers Pen in the East to Wiltshire in the West (near Greenwood in St. James). Any NWC water supplied the Project will be from this plant. In recognition of the tourism development that has taken place and is planned for the planned for the Parish. Treatment Plant # 1 at Martha Brae is to be refurbished to restore it to its designed capacity of 6M gallons per day. Up from the roughly 4M gallons that it can treat currently. Upon completion, it is expected 97 Environmental Solutions Ltd. Oyster Bay EIA that the 3M gallons currently exported to St. James will continue, and the remaining 3M gallons will serve increased demand eastwards to Braco. Treatment Plant #2, is located just outside of Falmouth. Currently most of its water is exported to St. James. However, the larger hotel properties neighbouring the Project area, report problems with inconsistent water pressure. Starfish had to resort to putting in a tank to maintain a dependable supply. This is obviously a distribution problem, which the refurbishing of the treatment plant and associated pumping works is designed to alleviate. Electricity supply is considered adequate and available, although current proposals to have major new power consumers purchase their own transformers is likely to meet considerable resistance. Telephone services particularly to large users such as the existing hotels, is considered very inadequate. Cable & Wireless appears unable or unwilling to provide the level of service. Flooding The communities reported that this stretch of coastline is not prone to flooding. However, periodic flooding is a serious challenge in a community called Mangrove, just south west of Falmouth. The community, in addition to being on a very low water table is also apparently part of the natural drainage system. This example is cited to underscore the hydrological challenges faced by high rise major developments in this part of the parish. The Martha Brae Drag Line is the main waterway that drains the wetland area to the south west of Falmouth into the sea at Half Moon Bay. 98 Environmental Solutions Ltd. Oyster Bay EIA 5.0 POTENTIAL IMPACTS AND MITIGATIONS MEASURES 5.1 ANALYSIS OF IMPACTS Several impacts have been identified for this development , which includes both negative and positive impacts. Consideration has been given to the scale of the impacts (major or minor), the deviation of impacts (long term or short term) and the permanency of the impacts (reversible or irreversible). The environmental aspects likely to be impacted by this development, a description of the main impacts and the proposed mitigation measure have been described for the natural environment (Table 5.1) and the socio-economic environment (Table 5.2). Several key environmental issues have been identified for this site and for the proposed development. Environmental Guidelines are presented in Appendix VI. The main issues are outlined below and are relevant to the determination of impacts and the proposed mitigation measures, as described in the following sections. Issue 1: Low-Lying Coastal Lands The proposed resort site, comprising low-lying coastal lands known as Bush Cay and Florida, and the more elevated interior land at Hope Gate, is located near Falmouth on a peninsula situated closely behind the fringing coral reef from which it is separated by a narrow back reef lagoon. The peninsula is exposed and vulnerable to storm waves and storm surges as evidenced by the large amount of coral rubble deposited on beach berm and elsewhere by erosion scarps along sections of the beach face. An early map shows that in the 1880’s Bush Cay was separate from the mainland. More recent aerial photography shows that since then the peninsula 99 Environmental Solutions Ltd. Oyster Bay EIA has grown in a westerly direction, incorporating the original Bush Cay, by sand accretion along the northern side and probably also by the deposition of soft sediments from the Martha Brae river along the southern side. In physical terms the site is dynamic and the sea grass bed at the tip is essential for the binding of the sediments in this process of accretion, as well as the mangroves growing incrementally along the southern side. Issue 2: Coastal Protection and Setbacks In addition to the more conventional type rooms on the land the development proposes to provide rooms situated on piles over the water along the northern shore of the peninsula. There are no specific international guidelines governing the operation of such structures nor is there any particular negative environmental issue associated with them. Placed on piles such structures do not have any more effect on the ecology of inshore waters than do ordinary boating piers and it should be noted that they are in common use throughout the world. The rooms are raised above sea level and as long as they are not tightly clustered, as would be the case for the proposed development, they do not obscure the seascape in an unacceptable fashion. Land rooms and other buildings will require some setback. Sewage from toilets in sea rooms is to be taken in pipes secured below the pier to the mainland and then treated in the onshore facilities. Issue 3: Mangrove Swamps The mangroves of Falmouth and Salt Marsh are listed among the major wetlands of Jamaica in the NRCA’s Mangrove and Coastal Wetlands Protection Draft Policy and Regulations, 1997. Specific reference is made to Bush Cay and Florida swamps in that document, including the statement that “the phosphorescence was lost subsequent to indiscriminate clearing of mangroves 100 Environmental Solutions Ltd. Oyster Bay EIA around the lagoon”. That allegation has never been proven. Other possible factors include the following: a. leaching of marl from newly constructed roads across the mangroves b. marsh drainage and reclamation activities that were then being carried out in the Martha Brae estuary, and c. discharges from the commercial tie-dying operation at Rock. However, the most likely cause was channel dredging in the bay at that time in order to accommodate a proposed marina. Dredging would have disturbed the soft sediments in the bay, brought them into suspension, and adversely affected the quality of the water such that the dinoflagellates could not survive. In 1967, a resolution was passed by the Trelawny Parish Council to impose theTree Preservation (Bush Cay, Trelawny) Order on that part of the peninsula ‘to promote rejuvenation of the mangroves on Bush Cay which had been destroyed prior to that time’. Since then the TPC passed a resolution on 8th July to have the Order revoked so as to allow for replacement of the willow trees with native species. The application is now before the Minister prior to being gazetted. The mangroves are clearly important to coastal stability and to ecological functions of the Bay and their conservation is essential. Issue 4: The Glistening Waters/Oyster Bay The peninsula encloses Oyster Bay, an estuary into which debouches the Martha Brae River. Oyster Bay is reknowned for its phosphorescence, which is due to the presence of microscopic bioluminescent dinoflagellates in the water. Vegetation on the western end of the peninsula is partly dominated by mangroves. These border Oyster Bay and are an integral part of the coastal 101 Environmental Solutions Ltd. Oyster Bay EIA ecosystem, contributing to the biological productivity of the estuary. This productivity supports the existence of the dinoflagellates as well as the marine nursery function of the bay. Oyster Bay and its waters are susceptible to pollutants and contamination arising from inappropriate activities that may take place in the Martha Brae watershed and along the coast. For this reason it would be prudent to put in place a resource use and management plan for Oyster Bay. No untreated sewage effluent or other untreated effluent is to be released into the Bay. 102 Environmental Solutions Ltd. Oyster Bay EIA Table 6.1: Natural Environment – Potential Impacts, Cumulative Impacts and Mitigation Measures Environmental Aspect Drainage Potential Impacts Mitigation Measures Impacts on drainage are both direct and indirect. 1. The engineering design for each component of the They relate to all phases of the development and to development should use the 100-yr. event as design criterion high volume events (major drainage) as well as to for drainage structures, to accommodate flash floods and drainage requirements for run-off from more catastrophic events. frequent events (minor drainage). 2. Storm water runoff (more frequent events) will be handled by curbs, channels, and retention ponds. These must be designed Two-thirds of the land is wetland and typically to prevent ponding and flooding on the property. inundated. Rehabilitation of the wetland will retain 3. the wetland area. Retention ponds should be created for the collection of storm water from which over flow can lead to the mangroves. Landscaping will necessitate gradation to facilitate this over flow movement. This will prevent the collection of stagnant pools of water, and will prevent the direct drainage of stormwater to the coast. 4. All existing drainage lines must be kept open and no obstructions must be built within these lines. Culverts and drains should be designed to channel surface run-off into existing drainage lines. 103 Environmental Solutions Ltd. Oyster Bay EIA 5. Retention ponds can also be used for irrigation purposes. These mitigation measures are the responsibility of the developer. Operation Phase During the operation phase the mitigation measures incorporated in the engineering design should prevent: 1. Problems of ponding, 2. Facilitate surface run-off. Scheduled inspections and maintenance of drainage channels is critical 3. Prevent direct channelling of stormwater to the coast 4. Reduce potential of the development of nuisance issues through the elimination of stagnant ponds which encourage mosquito breeding 5. The establishment of the retention ponds and overflow into the mangroves will prevent direct inputs of freshwater into Oyster Bay, that can affect the bioluminescence of the bay. 104 Environmental Solutions Ltd. Oyster Bay EIA Hazard Vulnerability Impacts during site preparation or construction 1. Site preparation and construction schedules should take relate to the effect of flood events and stormwater account of the traditional rainy season between May and run-off in the project area. October, and of the hurricane season from June to November, during which tropical systems sometimes cause flood rains. With respect to man-made/technological hazards, Extraordinary tropical systems have also caused problems of accidents can occur as a result of construction supersaturated soils, so that schedules should factor this activities directly on-site and as a result of activities eventuality. off-site, such as transportation of equipment and materials. 2. A safety management plan including traffic handling and equipment management procedures should be developed as part of the construction scheduling. Health and safety aspects must be considered with respect to workers existing residents on the site and the motoring public during both the Construction and the Operation Phases. A major risk due to the proximity of the site to the coast is storm surge. Operation Phase 3. Engineering design must take account of appropriate design During the operation phase the mitigation measures incorporated in the engineering design should 105 for wind, storm surge and seismic activity. 4. An Evacuation Protocol must be established to safeguard Environmental Solutions Ltd. Oyster Bay EIA public health and safety in the event of predictable events. prevent problems associated with hazards. These would include the annual hurricane season from June to November. These mitigation measures are the responsibility of the developer. Air Quality 1. Watering of un-vegetated areas and stripped road surfaces Site Preparation and Construction Phase Movement of trucks and heavy-duty equipment along which construction vehicles and trucks travel will to and from the project area, as well as control dust emissions by up to 70%. A full-time watering construction work and stockpiling of earth truck should be maintained on site for watering road material, will contribute to dust emissions. surfaces as needed to minimize fugitive dust emissions. Construction activities will also result in the removal Over-saturated conditions, which would cause outgoing of vegetation that will expose and loosen soil which trucks to track mud onto public streets, should be can become airborne with medium to strong winds. avoided. Watering would not be necessary on days when This would add fugitive dust to the area, which is rainfall exceeds 2.5 mm (0.01 inch). already dust prone because of previous land clearance. The transport of aggregate for road and drainage culvert construction will also contribute to the fugitive dust levels. Construction vehicles will 106 2. Stock piling of earth materials for construction should be carried out within temporarily constructed enclosures to limit fugitive dust. Vehicles transporting earth materials should be covered en route. Mixing equipment should be sealed properly Environmental Solutions Ltd. Oyster Bay EIA emit air contaminants such as nitrogen and sulphur and vibrating equipment should be equipped with dust oxides as well as particulates. removing devices. Stockpiles of fines should be covered on windy days. 3. A monitoring program for dust is recommended to assess the effectiveness of control measures in meeting ambient air quality standards. Operation Phase 4. Provide dust masks to operators in order to protect them from dust impacts. 5. Take account of prevailing wind direction and plant tall leafy and dense vegetation between roads and human settlements to filter pollutants. 107 Environmental Solutions Ltd. Oyster Bay EIA 1. Emissions from the generator must take account of Operations Phase Electricity will be produced on site by a Caterpillar machine. ambient standards. 2. Vibrations should take account of existing international standards in the absence of national standards. Coastal Processes 1. Due Operations Phase • Stability of the beach is affected by accretion Construction of solid structures can impact beach processes. dynamic nature of the beach it is recommended that no hard structures (groynes) be 2. Setback and elevation must be such that the 50-year situ period surge (3.7m) does not affect critical areas. • Establishment of structures on the beach. • Elevation and set back of buildings can impact Design coastal processes and put buildings at risk during should construction. include the use of tunnel form This will allow flow through of water and reduce obstruction impacts. 3. The design of buildings on land should not interfere storm surge. • the established until further detailed studies are done. and erosion and the beach is dynamic. • to with existing coastal processes. Placement and density of sea rooms, piling design and construction can increase drag and 4. Piling design should take account of scour protection. prevent water movement, and lead to scour. 5. Mangroves and seagrasses must be conserved to Safety of the beach and swim area. A breach in the reef has resulted in the creation of a rip maintain accretion of sediment on the western point. 6. The piling design and density must take into account the current which will make swimming hazardous at 108 coastal process and not reduce flow of water, create Environmental Solutions Ltd. Oyster Bay EIA this point. obstruction impacts and lead to scouring. 7. To eliminate the rip current it is recommended that the breach in the reef be sealed. This would be by underwater groyne with a vertical height that allows overflow to prevent the creation of a closed area. 8. Piles cannot be placed directly on the reef structure. 109 Environmental Solutions Ltd. Oyster Bay EIA Noise Site Preparation and Construction Phase Site Preparation and Construction Phase The noise level is expected to increase during site 1. Although not expected to create a significant negative preparation and construction with the use of heavy impact, noise impacting on the existing components of the machinery and earth moving equipment, and during development from construction activities can be minimized by piling. limiting noisy construction activities to the hours between 7 am and 6 pm, where construction is in close proximity to residential areas. Construction machinery and vehicles should be serviced at regular intervals in order to keep noise to a minimum. 2. Workers must be equipped with ear muffs as appropriate. 3. Adhere to NEPA noise standards. Operation Phase Siting of the generators should be away from guest rooms, bird roosting sites in the mangroves and adjacent property owners. 110 Environmental Solutions Ltd. Oyster Bay EIA Marine Water Quality and Reefs Construction Phase • Erosion and Construction Phase terrestrial run-off during the construction and operational phases of the development will cause serious degradation of the seagrass meadows and coral recruitment 1. The creation of a drainage containment area further inland where run-off could be channelled and held. 2. Establishing setback limits for Buildings situated close to beach front. areas. This is particularly true because of the shallow nature of the back reef area. Storm water run-off can also become deleterious by 4. Creating footpaths throughout the development that will substances (especially petroleum based) to the minimise loss of vegetation and the compaction of soil caused marine environment. It must be noted that a by pedestrian traffic. nutrients, sediments and significant deposition of sand is occurring on the 5. Measures to control or limit sedimentation in drainage western tip of the area extending around to the channels during the construction phase will include storage of fringe mangroves. Any increase in sediments earth materials within containment berms could have serious consequences for the 6. The deployment of sediment traps during any approved filling mangrove root community Physical damage to the reef structure during Suspended solid loading garbage) to the coastal in the coastal environment. 7. The engineering design must incorporate measures for slope construction of over-sea units. • sea. toxic introducing • 3. Maintaining a vegetation barrier between the land and the (sediments and waters (from earth moving activities and terrestrial run-off) stabilization and reinforcement to prevent slope failure on steep slopes. 8. The proper removal and disposal of construction spoil, so as 111 Environmental Solutions Ltd. Oyster Bay EIA • Increased bacterial levels due to indiscriminate disposal of human waste (particularly construction camp activities). • not to block drains and gullies. 9. Take all necessary measures to prevent refuse (solid waste) and wastewater produced in construction camps from entering Oil and grease from heavy equipment and into drains and water bodies. trucks. 10. Provision of portable chemical toilets at work sites, with appropriate sanitary arrangements for disposal of the contents. 11. Oil and grease which may be generated from construction equipment should not be allowed to run into the sea and should be properly stored and disposed of, off site, to prevent washdown in terrestrial run-off during rainfall events. The above mitigation measures are the ultimate responsibility of the developer, working with contractors and subcontractors. 12. Durng the operation phase proper receptacles for the collection of solid waste must be installed and guests must be sensitized to solid waste issues. 13. The services of a reliable, certified contractor must be engaged for the timely and efficient removal of solid waste to an approved site. 14. A proactive policy for waste management must be put in Operation Phase place to prevent dumping in the coastal zone by guests and The most important impacts relate to physical 112 Environmental Solutions Ltd. Oyster Bay EIA damage to the reef structure from visitor activity. staff. These mitigation measures are the responsibility of the This could include improper waste disposal practices from over-sea rooms. management entity for each component of the development. 15. Monitoring of the coastal environment should be conducted against baseline data and to assess cumulative impacts on water qualtiy. The increase in number of snorkelers and recreational SCUBA divers may lead to physical damage of the reef due to trampling, breaking 16. Establish regulations and promote environmental awareness amongst visitors and residents e.g. using posters or signs, giving talks in hotels/communities. corals or removal of organisms for souvenirs. The requirements and implementation of coastal water quality monitoring to determine the impacts of all coastal developments is the responsibility of NEPA. Water quality monitoring may be the responsibility of the developer if speciefied by NEPA in any permit issued. Other mitigation measures are the responsibility of the developer. 113 Environmental Solutions Ltd. Oyster Bay EIA Back Reef Environment Construction of Cottages within the shallow back 1. Construction methods used must ensure that intrusion into reef environment as proposed by the developers the seagrass/coral pavement areas be limited and carefully poses monitored. several problems. Firstly, during the construction phase of the development, the shallow and sensitive nature of this area predisposes it to degradation. Seagrasses and coral recruits do not 2. During construction phases sediment screens should be used to reduce the transportation of sediments to other seagrass areas as well as to the fore reef system. do well in areas that have high sedimentation rates. The use of heavy equipment could be problematic. 3. Minimise use of heavy equipment in environmentally sensitive areas. The use of pilings to support these structures would mean the interruption of the current flows now occurring. Changing flow characteristics could lead to loss of beach sand due to erosion and absence of natural replenishment. Scouring would also occur around the foot of the pilings. The structures themselves would also create an additional problem of shading. Seagrasses and corals are photosynthetic and do not occur where sunlight is not optimal. 114 Environmental Solutions Ltd. Oyster Bay EIA Vegetation Site Preparation and Construction Phase 1. Mangrove and scrubland will have to be cleared to provide Site preparation and construction activities will land for the development works. result in the removal of several acres of mangrove, stands should be carried out on a phased basis to reduce the removing the airshed purification function and amount of exposed top soil that can be washed down in rainfall habitat for birds. events. Clearing of the vegetative 2. Clearance of vegetation should be done in accordance with The removal of mangroves can impact the production of vitamin B12 by dinoflagellates who obtain their food from decaying the Terms and Conditions specified in any permit from NEPA and in respect of pre-designated mangrove areas for retention. mangrove 3. Trees to be retained should be ‘red-flagged’ to alert vegetation. contractors. 4. Construction monitoring is recommended. Scrubland and casuarina will be removed. The development also proposes the construction of the entrance to the property on the Northwest mangrove fringed shore. The construction would 5. To continue to provide airshed functions of purification it is recommended that verges be replanted with trees and shrubs where appropriate. also involve the erection of docking facilities to 6. Selection of plants for landscaping should consider the accommodate vessels used to transport guests. following: habitat suitability, feeding trees, trees of national Potential impacts include the clearing of mangroves interest, flowering trees and shrubs. and dredge and fill activities to consolidate the soil. 7. Replace Casuarina with native coastal species. Dredging might also be necessary to give vessels 8. A nursery should be established to provide material to be 115 Environmental Solutions Ltd. Oyster Bay EIA enough draught. used. 9. Resuscitation of dead mangroves is to be undertaken to facilitate the creation of a Nature Park, to encourage habitat for wildlife. 10. Though undesirable the removal of any mangroves must be accompanied by an equal restoration effort at another section of the property. 11. Dredging activities should be kept to a minimum; liberated sediments can prove deleterious to marine flora and fauna. 12. During the operational phases, care should be taken in the case of vessel maintenance and operation to avoid spills of oil, gasoline and the containment of runoff from cleanup activities. The requirement for construction monitoring and the establishment of Permit Conditions are the responsibility of NEPA. Other mitigation measures are ultimately the responsibility of the developer and any contractors or subcontractors. 116 Environmental Solutions Ltd. Oyster Bay EIA Birds 1. Design of golf courses should ensure that feeding trees Site Preparation and Construction Vegetation clearance will result in loss of habitat for (particularly both endemic and migratory bird species. corridors. sweetwoods) are connected by vegetation 2. Efforts should be made to retain forest strips along gully slopes. 3. Landscaping and vegetation buffers, will result in the replacement of some habitat for selected species. 4. Selective vegetation clearance should be exercised to ensure that feeding, nesting and roosting sites are maintained in suitable numbers. 5. It is not expected that poachers will be a threat, as the development is secure and access is limited. These mitigation measures are the responsibility of the developer and the design engineers. Operation Phase The creation of a Nature Park will facilitate habitat creation for several species of birds including migrating species. 117 Environmental Solutions Ltd. Oyster Bay EIA Nusiance Species Operation Phase 1. the removal of casuarinas will be a benefit as these are Casuarina is a alien invasive species which will be introduced and invasive species. The pine needles coat the soil and prevent natural ecological process. removed. Standing water in this environment can lead to the 2. Sloping and grading of the landscape to facilitate water flow must be done to prevent ponding and build up of standing breeding of mosquitos. water. 3. Contractor needs to develop a site management plan for construction. 118 Environmental Solutions Ltd. Oyster Bay EIA Table 6.2: Social Environment – Potential Impacts, Cumulative Impacts and Mitigation Measures Environmental Aspect Potential Impacts Mitigation Measures Traffic, Transportation Site Preparation and Construction Phase and Access Roads Site preparation and construction activities will see an increase in the movement of heavy vehicles and construction equipment. Site Preparation and Construction Phase 1. Scheduling of construction work should seek to minimise disruption to traffic flow along the main north coast artery and allow for the movement of material and heavy equipment. Operation Phase Disruption to traffic is not anticipated during the operation phase. Exit ramps from the main road to access property on both the north and the south side of the property should be considered. 2. Arrangements for parking and storage of material should be made on-site as is feasible for efficient operations. 3. Discussion should be had with the National Works Agency regarding the provision of underpasses and exit ramps. 4. Properly trained flag persons and road side signs should be used where the movement of heavy machinery and construction equipment may cross the main road. These mitigation measures are the responsibility of the 119 Environmental Solutions Ltd. Oyster Bay EIA developer and the contracters in consultation with the National Solid Waste Management Authority, as required. Business Enterprises Employment Construction Phase and Operation Phase No business enterprises will be disrupted. No mitigation measures are required. Site Preparation and Construction Phase Site Preparation and Construction Phase Employment opportunities will be created during the site preparation and construction phases. This will mostly be unskilled labour for the duration of the construction activities. Additionally, economic opportunities will involve the sourcing of construction material and linkages created with local and regional suppliers and industries. 1. Casual labour will find employment and this is expected to be a positive impact for the surrounding communities. 2. Workers should be briefed on traffic management, solid and liquid waste disposal, dust management, parking, idling of equipment and oil spill control. 3. The “politicization” of employment opportunities often poses some challenge to contractors, and the need for security and relevant dialogue have to be factored into construction planning. 4. Training should be sought for unskilled labour from local communities as required. 120 Environmental Solutions Ltd. Oyster Bay EIA These mitigation measures are the responsibility of the developer. Solid Waste Site Preparation and Construction Phase Management Solid waste generated from the site preparation 1. Construction sites generate considerable waste and construction activities will include construction and provision must be made for suitable separation debris, vegetation, solid waste from beaches, and and storage of waste in designated and labelled solid waste generated from the construction camp. areas throughout the site and at the site camp. Site Preparation and Construction Phase 2. Collection of waste by certified contractors and disposal at an approved site, as recommended and approved by the National Solid Waste Management Authority. 3. Any hazardous waste should be separated and stored in areas clearly designated and labelled, for future entombing and disposal as directed by the National Solid Waste Management Authority. 4. Worker training should include instructions on how to dispose of food and drink containers emphasizing the need to protect the coastal environment. 5. Construction camps and work areas along the proposed alignment must be adequately equipped 121 Environmental Solutions Ltd. Oyster Bay EIA with portable chemical toilets. 6. Portable chemical toilets must be provided, maintained and removed by a certified contractor. 7. Consideration establishment should of an be given Integrated Solid to the Waste Management Plan. These mitigation measures are the responsibility of the developer. Proposed Major developments within the areas include the 1. It is uncertain as to the impact of these Developments Harmony Cove Developments at Harmony Hall, developments on the proposed development in Trelawny and the Green Field Site for World Cup relation to market share. Cricket 2007. 2. Cumulative impacts related to traffic management may occur if construction schedules overlap. The mitigation measures as described under traffic management would need to be applied by other developers. 3. Discussions should be held with the relevant government agencies to determine the solution for 122 Environmental Solutions Ltd. Oyster Bay EIA the potential squatter settlements that have been arising in close proximity to these major developments. Public Health and Site Preparation and Construction Phase Safety Site preparation and construction will involve, 1. To minimise risk to the public the construction transportation and storage of significant volumes of activities which will directly affect the movement of construction material, traffic and proper disposal of construction spoil and any hazardous waste. Mitigation Measures and pedestrians, should be properly scheduled and standard construction techniques for sign–posting and flagging should be adhered to. Increased levels of fugitive dust and construction 2. Dust control by wetting is essential. noise are also public health issues as the air quality is already deteriorated in this region and 3. Unnecessary idling of construction related vehicles should be discouraged. noise and activity levels are high. 4. Proper sign posting of speed limits and entrances and exits. Operation Phase Increased human activity in the areas could stress 5. Discussions should be held with the relevant the existing pressure on a diminished Fire Services authorities regarding facilities for fire protection and Department. health and safety. These mitigation measures are the responsibility of the developer. 123 Environmental Solutions Ltd. Oyster Bay EIA Zoning Some types of recreational water sports are incompatible, such as snorkeling and jet skiing. Some areas of the reef are in shallow water, and accidents could occur. 1. Zoning of areas for swimming/snorkeling and for other sports such as jet skiing. 2. Placing markers to identify shallow parts of reef which may be hazardous to jet skiers. 3. Hazardous swim areas should be clearly demarcated and restricted in access. These mitigation measures are the responsibility of the developer. Archaeological Cultural Heritage and Site Preparation and Construction Phase 1. The JNHT should be informed of the construction The general area is rich in heritage value and site schedule and given an opportunity to conduct a preparation and construction could result in the Watching Brief during the construction phase and to unearthing and discovery of artefacts. perform Rescue Archaeology if any artifacts are discovered. 2. These mitigation measures are the responsibility of the developer in association with the JNHT. 124 Environmental Solutions Ltd. Oyster Bay EIA Sewage Treatment Operation Phase 3. Raw sewage must not be pumped into the sea. The development proposes in excess of a 4. Treated sewage effluent from the package plant thousand rooms. Sewerage that is untreated or must be fed to irrigation holding tanks. From the poorly treated contains high levels of nutrients that holding tanks aerated effluent will be used for can cause the smothering of the reef systems and irrigation and dissipated through the mangroves via seagrass areas. Potentially it would mean loss of multiple outlets. clean water surrounding the development. 5. NEPA Sewage Irrigation Standards must be met Establishment of a package plant on the east side of the site. Each hotel will be equipped with retention facilities fed by each room. Treated sewage will be fed into a retention pond. for sewage effluent and the Sewage Irrigation Standard also if waters are to be used for irrigation. Irrigation standards indicated in Section 3.2.12 must be adhered to. 6. A permit and license for sewage treatment and Nutrients and bacteria can impact the coastal discharge must apply. Monitoring of effluent waters resulting in entrophication of coastal waters. discharge must be conducted during the operation of the facility. Organic loading and phosphates can impact bay 7. A sewage treatment plant must be constructed to waters altering the delicate balance that now exists take and contain all sewerage, inclusive of the causing the reduction of bioluminescence in the structures that are proposed offshore. bay. 8. The treated water from these activities can be used 125 to irrigate the lawns Environmental Solutions Ltd. and Oyster Bay EIA gardens of the property. Utilities Operation Phase Operation Phase 1. Increased demand on water supply 2. Generation of solid waste 1. Confirm discussion with the National Water Commission regarding the supply of potable water. 3. Solid waste facilities are required in local communities 2. The developer should participate in the upgrade of the Martha Brae Treatment Plant. 3. All solid waste must be taken to the Retirement Site. Lighting Increased lighting will decrease the visibility of the No lighting should be directed toward the Oyster Bay. luminescent bay and reduce its attractiveness. 126 Environmental Solutions Ltd. Oyster Bay EIA 5.2 CUMULATIVE IMPACTS Cumulative Impacts have been taken into consideration as the north coast supports a thriving tourism industry and is projected to expand based on the increase in tourism facilities. For the north coast in general, these include the Royal Georgian Resort and Spa at Llandovery in St. Ann, the Bahia Hotel at Pear Tree Bottom also in St. Ann, and the Harmony Cove Resort near Braco also in St. Ann as well as the 2,000 room Spanish hotel and Cruise Ship Pier in Lucea, Hanover. Much closer to the proposed development site is the location of the Trelawny Stadium which is to be constructed for hosting the World Cup Cricket in 2007. The site is on 40 acres of land just off the main north coast road from Rock. The main cumulative impact relates to the potential increase in opportunitic persons hoping to capitalize on the benefits to be derived from increased visitor arrivals to the areas. This could lead to squatting, illegal roadside vending, informal and illegal residential communities, poor sanitation practices and congestion on small roads and near to entrances. The main mitigation measures to counteract this, are not the responsibility of the developer, but the government regulatory and enforcement agencies. • Accommodation must be provided to facilitate the influx of persons seeking job opportunities (at different levels) anticipated from the hotels and sport facility • Enforcement against squatting, vending and other unapproved activities must be immediate at the first sign. These impacts are not specific to this project and evidence of the lack of provision of accommodation and the lack of enforcement in other resort area is 127 Environmental Solutions Ltd. Oyster Bay EIA obvious. It would be beneficial for the government agencies to cooperate with developers within the project area. 128 Environmental Solutions Ltd. Oyster Bay EIA 6.0 CONSIDERATION OF ALTERNATIVES Alternative Site An alternative site was not selected as this site is owned by the developer, and chosen specifically for its environmental attributes. Alternative Design Alternative designs to building were considered but the concept of a Bora Bora style units is the concept that the developer desires for this development. 129 Environmental Solutions Ltd. Oyster Bay EIA 7. OUTLINE ENVIRONMENTAL IMPACT MONITORING PLAN 7.1 MONITORING PROGRAMME If a permit is granted for the proposed project, and before site preparation and construction activities begin, the developer should submit a Monitoring Programme to NEPA for approval, if required to do so. The aim of the Monitoring Programme is to ensure compliance with relevant legislation, implementation of the mitigation measures and long-term minimization of negative environmental impacts. The Monitoring Programme should include a Construction Plan and Schedule with a description of any proposed phasing of activities, recommended Mitigation Measures and proposed methods of compliance. The Monitoring Programme should also include an Inspection Protocol; planned Supervision of Site Preparation and Construction Activities and implementation of Post Construction Monitoring. During construction reports should be submitted to NEPA as well as a final summary report of the effectiveness of the mitigation measures. Parameters to be included in the Monitoring Programme should include, but not be limited to, Air Quality, Coastal Water Quality, Noise, Coral Reef Structure, Solid Waste Management, Mangrove Rehabilitation and Vegetation Conservation. The monitoring of the reef systems is also important, the Reef Check methodology instituted by Reef Check International and used world wide is a quick and relatively easy method used to monitor the health of the reef systems. The use of this method also gains points towards the Blue Flag accreditation sought after by hotels and marinas around the world. 130 Environmental Solutions Ltd. Oyster Bay EIA REFERENCES Adams, C.D., 1972. Flowering Plants of Jamaica. University of the West Indies. Ahmad. R. 2003. Natural Hazard Maps in Jamaica: Foundations for Sustainable Developement. First National Scientific Conference on the Environment. April 910, 2003, Kingston, Jamaica. Bond, J. 1985. Birds of the West Indies. Collins. Bull, J. and J. Farrand Jr. 1977. The Audubon Society Field Guide to North American Birds. Alfred A. Knopf, New York. Downer A. and R. Sutton. 1990. Birds of Jamaica – A Photographic Field Guide. Cambridge University Press. Eaton, A.D., L.S. Clesceri and A.E. Greenberg, 1995. Standard Methods for the Examination of Water and Wastewater. American Public Health Association, American Water Works Association and Water Environment Federation. Environmental Solutions Ltd. 1992. Environmental Evaluation of the New Falmouth Resort Development Site, Florida/Bush Cay, Trelawny. Grossman, D.H., S. Iremonger and D.M. Muchoney. 1991. Jamaica: A Rapid Ecological Assessment Phase 1. The Nature Conservancy. Humann,P.,N. Delaoch. 2002 Reef creature identification: Florida, Caribbean, Bahamas. New World Publication, Inc Jacksonville, Fl, USA. pp248. Humann,P.,N. Delaoch. 2002 Reef coral identification: Florida, Caribbean, Bahamas. New World Publication, Inc Jacksonville, Fl, USA. pp272. Humann,P.,N. Delaoch. 2002 Reef fish identification: Florida, Caribbean, Bahamas. New World Publication, Inc Jacksonville, Fl, USA. pp512. Scullion Littler, D., M. Littler, K Bucher, J.N.Norris 1989. Marine plants of the Caribbean: A field guide form Florida to Brazil. Smithsonian Institution Press. Washington Dc, USA. Pp 263. Seliger H.H, J.H. Carpenter, M. Loftus and W.D. McElroy: Mechanisms for the accumulation of High Concentrations of Dinoflagellates in a bioluminescent Bay: Limnology and Oceanography, 1970. Vol 15 No.2. pp 234-245. Seliger H.H and W.D. McElroy, Studies at Oyster Bay in Jamaica, West Indies. I. Intensity Patterns of Bioluminescence in a Natural Environment: Journal of Marine Research Vol 26. No.3. pp 245-255. 131 Environmental Solutions Ltd. Oyster Bay EIA Schwartz A. and R. W Henderson. Amphibians and Reptiles of the West Indies – Descriptions, Distributions and natural History. University of Florida Press. 1991. Steindinger, K.A. 1979. Collection ,enumeration and identification of free living dinoflaggellates. Toxic Dinoflagellate Blooms. Taylor/Selinger(EDS).Elsevier North Holland Inc., pp. 435-442. Tomblin and Robson. 1971. Catalogue of Felt Jamaican Earthquakes. Vollenweider, R.A. 1969. A manual on methods for measuring primary production in aquatic environments. IBP Handbook 12, Blackwell Scientific Publications, Oxford. pp. 213. Webber, D.F, P.E. Edwards, M.H.Hibbert, Report on The Environmental Assessment and Management of the Martha Brae River Estuary, Falmouth Trelwany, Jamaica. 1998. Eaton et al 1995. Eaton A.D., Clesceri L., Greenberg A.E. and Franson M.A.H. Standard Methods for the Examination of Water and Wastewater. 1995. 14th Edition, American Public Health Association/American Water Works Association/Water Environment Federation, Washington D.C.USA. Environmental Solutions Limited. 2003. North Coast Highway Construction Monitoring Report prepared for Stanley Consultants Limited. Lapointe, B., 1992, Eutrophication thresholds for macro algal overgrowth of coral reefs, pg. 105-112 in K. Thacker (ed.), Protecting Jamaica's coral reefs: water quality issues, Negril Coral Reef Preservation Society, Negril, Jamaica. Smith-Shirley, Sharonmae. 2004. The Chemistry of the South Negril River: A Pollution Assessment Study, Master's Thesis, Department of Chemistry, University of the West Indies, Mona. Bioluminescent Bay. URL: stjohnbeachguide.com/Vieques_HTML/Bioluminescent_Bay.html Http://www. Verde 1993. Wildlife Conservation, Wild Places by Tom Verde. Http://www.biobay.com URL: Webber, Edwards, Hibbert. 1998. Ecological Assessment and Baseline Data for the Martha Brae River Estuary/Wetland Management Project. Report to Trelawny Environmental Protection Agency by Dale Webber, Peter Edwards and Marlon Hibbert. 132 Environmental Solutions Ltd. Oyster Bay EIA APPENDICES 133 Environmental Solutions Ltd. Oyster Bay EIA APPENDIX I: SMITH WARNER INTERNATIONAL LTD. REPORT 134 Environmental Solutions Ltd. Oyster Bay EIA APPENDIX II: ESL MARTHA BRAE DATA (ESL 2003) Martha Brae River at Bridge January 03 Martha Brae River at Bridge February 03 Martha Brae River at Bridge March 03 Martha Brae River at Bridge April 03 Martha Brae River at Bridge May 03 Martha Brae River at (Rafters Rest) May 03 Martha Brae River at Bridge June 03 Martha Brae River at Bridge July 03 TSS (mg/L ) 101.0 4.3 6.3 7.8 8.6 19.3 19.0 Nitrate(as Nitrogen) (mg/L ) 9.7 11.0 12.3 11.9 11.0 7.9 Phosphate (mg/L ) 0.09 0.17 0.10 0.10 0.11 Total Coliform (MPN/100ml ) Faecal Coliform (MPN/100ml ) ∃2,400 1100 1100 210 1,100 1100 1100 Oil & Grease (mg/L ) 7.0 5.9 1.60 PARAMETERS Martha Brae River at Bridge August 03 4.3 Martha Brae River Upstream of Bridge August 03 5.3 11.7 30* 3.5 3.52 1.7 1.6 0.1 - 7.5 0.09 0.12 0.09 0.08 0.03 0.01 - 0.8 460 460 ∃2400 240 460 93 <1,000* 210 460 460 ∃2400 43 460 11 1.6 2.9 1.2 1.8 4.50 12.25 2.60 90% of sample <10 10* 135 NEPA Standards Environmental Solutions Ltd. Oyster Bay EIA APPENDIX III: HISTORICAL WATER QUALITY DATA (WEBBER ET AL 1995) 136 Environmental Solutions Ltd. Oyster Bay EIA APPENDIX IV: BIOLOGICAL DATA Scientific Names Common Name DAFOR Invertebrates Echinodermata 15 species Diadema antillarium Long Spined Urchin D Echinometra lucunter Rock- Boring Urchin R Lytechinus variegatus Variegated Urchin F Tripneustes ventricosus Sea Egg F Eucidaris tribuloides Pencil Urchin O Echinometra viridis Reef Urchin A Lytechinus williamsi Jewel Urchin R Linckia guilingii Common Comet Star R Meoma ventricosa Red Heart Urchin R Holothuria mexicana sea cucumber O Davidaster rubiginosa Golden Crinoid O Ophiocoma paucigranulata Spiny Brittle Star A Ophiocoma echinata Blunt Spined Brittle Star F Ophioderma rubicundum Ruby Brittle Star O Ophioderma appressu Banded Arm Brittle Star O Porifera 8 species Plakortis angulospiculatus Viscous Sponge D Aplysina cauliformis Row Pore Rope Sponge A Xestospongia muta Giant Barrel Sponge F Diplastrella megastellata Red Orange Encrusting Sponge F Agelas conifera Brown Tube Sponge F Aplysina fistularis Yellow Tube Sponge F Tedania ignis Fire Sponge O Calyx podatypa Dark Volcano Sponge O Cnidarians 9 species Sertularella speciosa Branching Hydroid O Actinoporus elegans Elegant Anemone F Bartholomea annulata Corkscrew Anemone F 137 Environmental Solutions Ltd. Oyster Bay EIA Scientific Names Common Name DAFOR Epicystis crucifer Beaded Anemone O Lebrunia globulifera Branching Anemone F Condylactis gigantea Giant Anemone F Palythoa caribaeorum White Encrusting zooanthid O Zoanthus pulchellus Mat Zooanthid F Ricordea florida Florida Corallimorph O 1 species Ctenophora Mnemiopsis Mccradyi Sea Walnut O Annelida 6 species Hermondice carunculata Bearded Fire Worm O Arenicola cristata Southern Lug Worm R Notaulax occidentalis Yellow Fan Worm F Spirobranchus giganteus Christmas Tree Worm F Bispira variegata Feather Duster F Eupolymnia crassicornis Spaghetti worm O Anthropoda 8 species Paguristes erythrops Red Banded Hermit O Paguristes punticeps Whit Speckled Hermit Crab O Stenorhynchus seticornis Arrow Crab O Gonodactylus oerstedii Mantis Shrimp R Anilocra laticaudata Soldierfish Isopod O Calinectes sp. Blue Crab R Lepas anatifera Goose-neck barnacle F-O Panulirus argus Carribean Spiny Lobster (juvenille) R Ectoprocta - Bryophytes Canda simplex 1species Brown Fan Bryozoan Mollusca O-R 8 species Lithopoma tectum Stocky Cerith Cyphoma gibbosum Flaming Tongue O-R Tridachnia crispata Lettuce Sea Slug R Tellina radiata Sunrise Tellin R Pinna carnea Amber Penshell O Octopus briareus Caribean Reef Octopus O-R Strombus gigas Roostertail Conch R 138 Environmental Solutions Ltd. Oyster Bay EIA Scientific Names Common Name DAFOR purple snails ?? Corals Cnidarian Hydrocorals 2 species Millepora alcicornis Branching Fire Coral A Millepora complanata Blade Fire Coral A Octocorals 9 species Erythropodium caribaeorum Encrusting Gorgonia A Plexaura homomalla Black Sea Rod F Plexaura flexuosa Bent Sea Rod F Pseudoplexaura sp. Porous Sea Rod F Plexaurella nutans Split Pore Sea rod O Muricea pinnata Long Spine Sea Fan O Pseudopterogorgia sp. Sea Plumes F Pseudopterogorgia bipinnata Bipinnate Sea Plume F Gorgonia vetalina Common Sea Fan A Stony Corals 20Species Acropora palmata Elkhorn Coral A Porites branneri Blue Crust Coral A Porites porites Finger Coral A Dendrogyra cylindrus Pillar Coral O Madracis mirabilis Yellow Pencil Coral O Montastrea annularis Boulder Star Coral D Montastrea cavernosa Great Star Coral F Dichocoenia stokesii Elliptical Star Coral O Porites asteroides Mustard Hill Coral A Siderastrea radians Lesser Star Coral F Diplora strigosa Brain Coral F-O Diplora labyrinthiformis Grooved Brain Coral O Meandrina meandrites Maze Coral F-O Meandrina forma danae Butterprint Rose Coral R Agaricia fragilis Fragile Saucer Coral F Agaricia lamarcki Lamarck's sheet Coral F Agaricia agaricites Lettuce Coral F 139 Environmental Solutions Ltd. Oyster Bay EIA Scientific Names Common Name DAFOR Mycetophyllia lamarckiana Ridged Cactus Coral R Scolymia cubensis Artihoke Coral R Mussa angulosa Spiny Flower Coral R Common Name DAFOR Marine Plants Scientific Names 3species Sea Grass Thalassia testudinum Turtle Grass D Siringodium filiforme Manatee Grass A F-R Halodule wrightii Algae Scientific Names Common Name DAFOR Phaeophyta 6 species Dictyota sp. Y Branched Algae A Padina jamaicensis White Scroll Algae O Labophora variegata Encrusting Fan-Leaf Algae O Sargassum natans Sargasso Weed D Turbinaria tricostata Saucer Leaf F Turbinaria turbinata Blistered Saucer Leaf O Chlorophyta 18 species Halimeda discoidea Large Leaf Watercress Alga O Halimeda tuna Stalked Lettuce Alga F Halimeda goreaui Small Leaf Hanging Vine O Penicillus pyriformis Flat Top Bristle Brush O Penicillus dumetosus Bristle Ball Brush F Caulerpa racemosa Green Grape Alga R Dasycladus vermicularis Fuzzy Finger Alga O-R Codium isthmocladum Dead Man's Finger O Venticaria ventricosa Sea Pearl O Valonia macrophysa Elongated Sea Pearls O-R Dictyospaeria cavernosa Green Bubble Weed R Avrainvillea longicaulis Saucer Blade Alga O Udotea sp. Mermaid's Fan O 140 Environmental Solutions Ltd. Oyster Bay EIA Scientific Names Common Name DAFOR Rhipocephalus phoenix Pine Cone Alga R Acetabularia crenulata White Mermaid's Wine Glass O Acetabularia calyculus Green Mermaid's Wine Glass F-O Ulva sp. Sea Lettuce R F-O Enteromorpha Algae Rhodophyta 5 species Galaxaura sp. Tubular Thicket Algae O Amphiroa rigida Y Twig Alga O musa Liagora sp O Liagora sp F-O Fish 48 species Stegastes leucostictus Beaugregory Damselfish A Stegastes diencaeus Longfin Damselfish F Abudefduf saxatilis Sargeant Major A Stegastes fuscus Dusky Damsel D Microspathodon Yellowtail Damselfish A Thalassoma bifasciatum Bluehead A Halichoeres pictus Rainbow Wrasse F Holocentrus adscensionis Squirrel Fish F Myripristis jacobus Soldier Fish F Ocyurus chrysurus Yellow Tail Snapper F Aulostomos maculatus Trumpet Fish O Gobionellus saepepallens Dash Goby F Gobiosoma horsti Yellowline Goby R Epinephelus guttatus Red Hind R Bothus lunatus Peacock Flounder R Scopaena plumieri Spotted Scorpion R Dasyatis americana Southern Ray O-R Lutjanus analis Mutton Snapper O Pseudupeneus maculatus Spotted Goat Fish O 141 Environmental Solutions Ltd. Oyster Bay EIA Scientific Names Common Name DAFOR Haemulon flavolineatum French Grunt A Haemulon striatum Striped Grunt O Haemulon carbonarium Ceasar Grunt F Haemulon sciurus Bluestriped Grunt F Haemulon chrysargyreum SmallmouthGrunt F Canthigaster rostrata Sharpnose Puffer O Sphoeroides testudineus Bandtail Puffer O Diodon holocanthus Balloon Fish F-O Myrichthys ocellatus Gold spotted Eel R Chrmois multilineata Brown Chromis F Chromis cyanea Blue Chromis A Echineis neucratoides Remora R Chaetodon capistratus Foureye Butterfly Fish O Chaetodon aculeatus Longsnout Butterfly Fish O Acanthurus bahianus Ocean Surgeon A Acanthurus chirurgus DoctorFIsh F Sphyrena barracuda Great Barracuda R Caranx ruber Bar Jack O Bodianus rufus Spanish Hogfish R Myrichthyus ocellatus Goldspotted Eel R Gymnothorax miliaris Goldentail Moray O Archosargus rhomboidalis Sea Bream O Lagodon rhomboides Pinfish F Serranus tigrinus Harlequin Bass O Serranus tabacarius Tobaccofish O Scarus taeniopterus Princess Parrotfish F Scarus croicensis Striped Parrotfish F Sparisoma aurofrenatum Redband parrotfish F Ophioblennius atlanticus Redlip Blenny O Synodus intermedius Sand Diver O 142 Environmental Solutions Ltd. Oyster Bay EIA APPENDIX V: PLATES Plate 1: Transect tape and quadrat, note presence of Diadema and lack of algae Plate 2: Clean Reef with Milleopora, note absence of algae and presence of Diadema 143 Environmental Solutions Ltd. Oyster Bay EIA Plate 3: Plate 4: Reef buttress showing dominance of plate and boulder type corals Reef flat, note increased algal cover, lack of Diadema and healthy coral mounds 144 Environmental Solutions Ltd. Oyster Bay EIA Plate 5 : Reef canyon looking from reef crest into reef flat Plate 6: Reef buttresses separated by sand channels (Spur and groove) 145 Environmental Solutions Ltd. Oyster Bay EIA Plate 7: Seagrass bed in back reef, Thalassia sp and Syringodium sp. Plate 8: Coral pavement in the back reef. Note coral recruits in the fore ground 146 Environmental Solutions Ltd. Oyster Bay EIA Plate 9: Seagrass Halo providing nursery for juvenile fishes Plate 10. Southern stingray Dasyatais americana buried under sand in back reef 147 Environmental Solutions Ltd. Oyster Bay EIA Plate 11: Coastal Vegetation Plate 12: Overgrown scrubland 148 Environmental Solutions Ltd. Oyster Bay EIA Plate 13: Drill rig in operation. Beach sand is shown in the foreground and coastal vegetation in the background 149 Environmental Solutions Ltd. Oyster Bay EIA APPENDIX VI: ENVIRONMENTAL PLANNING AND DESIGN GUIDELINES Land/Marine Resources Use ¾ Comply with NEPA’s physical planning and environmental regulations. ¾ Maintain/enhance shoreline stability. ¾ Respect traditional water lanes and fishing areas. ¾ Establish a public reservation for a nature park ¾ Allocate sufficient land to ensure complete treatment of sewage effluent. Mangrove ecosystem ¾ Plan development with reference to ‘Mangrove and Coastal Wetlands Protection Draft Policy and Regulation’, NRCA, October 1997. ¾ Functional mangroves should not be destroyed or damaged. ¾ Minimise encroachment of development on mangrove areas. ¾ Minimise road construction in mangroves. ¾ Replant equivalent amount of any mangroves removed due to development. ¾ Rehabilitate mangroves at eastern end of Oyster Bay (southeast corner of Florida lands), including removal of westernmost marl road to restore tidal flushing. ¾ Design and develop wetlands nature park as part of corporate commitment to environmental protection and management. 150 Environmental Solutions Ltd. Oyster Bay EIA Beach and shoreline ¾ Ensure buildings and structures do not impede long-shore sediment transport or induce beach erosion. ¾ Ensure physical and biological processes leading to accretion and growth of Bush Cay are not constrained. ¾ Ensure protection of sea grass meadows at western tip of Bush Cay. ¾ Ensure protection of mangroves at southwestern tip of Bush Cay. Phosphorescent coastal lagoon ¾ Ensure resort development and construction activities do not adversely affect or diminish phosphorescence in Oyster Bay or the population of bioluminescent dinoflagellates. ¾ Present water circulation pattern in the bay and adjacent tidal areas should not be disturbed. ¾ There should be no direct discharges of waste or fresh water to the lagoon. ¾ No bright lights or sources of noise should be placed near the shore of the bay. ¾ Promote and assist establishment of environmental management plan for Oyster Bay. Resource conservation ¾ Seek to minimize use of potable water resources and fossil fuels: o Maximise collection and storage of rainfall, o Utilise treated STP effluent for irrigation of green areas, o Install aerators on water taps, 151 Environmental Solutions Ltd. Oyster Bay EIA o Utilise solar heaters where practical, o Employ available energy saving technology (e.g. passive cooling), o Other appropriate technology. Sewage treatment ¾ Ensure effluents meet or exceed NEPA standards for effluent quality. ¾ Use treated effluents for grounds and landscape irrigation. ¾ Locate STP downwind so as not to cause odour problems for hotel or any residential area. ¾ Only completely treated sewage effluents should be discharged to the back end of the mangroves, if so required. Worker housing ¾ Seek provision of adequate housing by relevant authorities for hotel workers to reduce incidence of squatting and unplanned development associated with resort development in Jamaica. ****** 152 Environmental Solutions Ltd.