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• <br />• <br />• <br />Message <br />Jeff Smyser <br />Page 1 of 2 <br />From: Insook, Chai [Chai.lnsook @state.mn.us] <br />Sent: Friday, November 17, 2006 8:36 AM <br />To: Jeff Smyser <br />Subject: Environmental Assessment Worksheet for the Nature's Refuge Residential <br />Subdivision Development Project in Lino Lakes, Anoka County <br />Attachments: Section 401 Water Quality Certification.pdf <br />Dear Mr. Smyser: <br />Thank you for the opportunity to review this EAW. The Minnesota Pollution Control <br />Agency (MPCA) has the following comments: <br />Item 8 indicates the project will require a Section 404 Wetland Permit from the U.S. <br />Army Core of Engineers ( USACE). Please note that an MPCA Section 401 Water <br />Quality Certification is also needed for the issuance of the USACE Section 404 Permit. <br />Although the MPCA will likely waive its 401 authority, an application for a 401 <br />certification is still necessary. The attached Fact Sheet explains the MPCA's Section <br />401 Certification Program and explains how to apply. <br />Item 16 indicates that stormwater runoff management infiltration and rain gardens is <br />proposed. To be effective, it is important that these areas are not compacted by <br />construction activities and do not receive construction runoff. The MPCA recommends <br />that these areas be created near the final phases of construction, and soil ripping may <br />be necessary in areas where soil compaction was unavoidable during construction. It is <br />a state requirement that 3 feet of separation be provided between the bottom of the <br />infiltration basins and the seasonally saturated groundwater table. This may be difficult <br />to achieve given the relatively shallow groundwater table in the proposed project <br />area. Finally, the MPCA recommends that information be provided to homeowners at <br />the time of sales to ensure they understand what a rain garden is, how it works, and <br />why they are important. <br />These comments address matters of concern to MPCA staff reviewing the EAW and is <br />submitted for consideration by the responsible governmental unit in determining the <br />need for an EIS. It does not constitute approval by the MPCA for any element of the <br />Project for the purpose of pending or future permit action by the MPCA. We have <br />attempted to identify and consult with interested program staff to identify the MPCA <br />permits that may be required. Additional comments or requests for information may be <br />submitted in the future to address specific issues related to an MPCA permit that is <br />required. <br />Thank you again for the opportunity to review this EAW. Ultimately, it is the <br />responsibility of the Project proposer to obtain the required permits and comply <br />with permit conditions. If you have questions about these comment, please contact <br />Todd Smith with our Stormwater Policy and Technical Assistance Unit at (651) 215- <br />6008. If you have other questions concerning our review of this EAW, please contact <br />me at (651) 296 -7718. <br />Sincerely, <br />11/20/2006 <br />