Record Details

page 276

Digital Collections at BYU

Field Value
Title page 276 Final supplement to the final environmental statement, Municipal and Industrial System, Bonneville Unit, Central Utah Project : Summit, Wasatch, Utah, and Salt Lake Counties, Utah, page 276
Coverage Electronic reproduction;
Format 276 text/PDF
Rights Brigham Young University; http://lib.byu.edu/about/copyright/generic.php Public Domain Public
Language English; eng; en
Relation Central Utah Project; Western Waters Digital Library; page 4 october 23 28 1986 clifford I 1 barrett the BOR has stated verbally that they will prepare a floodplain flood plain study after the dam and reservoir are built however it is obvious that any study after completion of the project does not comport with the intent of the order As stated above the DS does not address the requirements of the executive orders cited clearly the DS is not in compliance and therefore is deficient regulatory compliance clean water act the DS fails to comply with public law 95217 clean water act becaue became BOR has not implemented a water quality reservoir boundary management plan the deer creek reservoir and proposed jordanelle Jor danelle reservoir water quality management plan 1984 has not adopted the modified reservoir management boundary that would accomodate accommodate the new proposed road relocations which differ from those approved under the FES 79 the length of proposed roads has increased from 15 to 32.9 329 329 miles and according to the BOR creates the largest impact of the project land acquistions acquisitions acquist ions for the reservoir management boundary and road relocation modifications total 20495 acres compared to 9846 acres in the FES to date there is no public agency in the state of utah willing to manage the reservoir boundary modifications of boundaries have resulted primarily from qeological neological problems in the dam abutments which necessitated shifting of the dam axis and outlet facilities and conseauent consequent redesign re design of road systems and reservoir boundaries As noted earlier no specific data is provided as to what problems were encountered potential hazardous waste sites exist at olson neihart and mayflower mine tailings locations within the jordanelle Jor danelle reservoir drainage area decisions regarding how to deal with these sitesfor sites for inclusion in the final supplement to the FES at which time there will be no opportunity for public input clearly the bureaus efforts in this regard are inadequate section 7 compliance endangered species act the DS is a NEPA compliance document for section 7 of the endangered species act for the june sucker a fish recently listed as an endangered species the federal register march 31 1986 states that alteration of habitat has been a major factor in the decline of the june sucker ADD ADU have yet to be made BOR expects it will have this information 276 c111 c CO F 4 3
Identifier http://cdm15999.contentdm.oclc.org/cdm/ref/collection/WesternWatersProject/id/9403

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