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NOAA Fisheries? process for reviewing BiOp projects
February 12, 2003
The following describes the recent review of BiOp-related projects
conducted by NOAA Fisheries. The purpose of the review was to advise both
the Council and BPA more clearly on the importance of current and proposed
projects relative to the 2000 Federal Columbia River Power System BiOp.
NOAA Fisheries staff reviewed not only the BPA list of critical projects
but all of the projects and proposals it commented on through the
provincial review process. NOAA Fisheries did not review U.S. Fish and
Wildlife Service projects or BPA's technical support and did not conduct
a detailed review of contracts to determine whether specific tasks within
a project did or did not pertain to the Reasonable and Prudent Alternative
(RPA).
On February 4 and 5, 2003, NOAA Fisheries hosted a working meeting with
BPA, Council, and CBFWA participation to discuss and clarify the
importance of each of the projects to meeting the 2003 check-in and future
performance standards. Based on NOAA Fisheries? internal review of
projects and information provided at the meeting, NOAA Fisheries developed
its list of BiOp projects aligned with specific RPA Action Items. NOAA
Fisheries? initial draft list was provided to BPA on February 10, 2003.
NOAA Fisheries did not scrutinize accruals but adopted those established
by BPA. Each BiOp project was assigned to one of three categories.
Category 1 identifies those ?non-discretionary? projects that are
specifically called for in the BiOp and are critical to meeting the 2003
check-in called for in the BiOp. There are a relatively small number of
Category 1 projects.
Category 2 consists of those projects which NOAA Fisheries "strongly
advises" BPA to implement. Category 2 projects are largely of two types.
One type includes projects not specifically called for in the RPA but that
directly support or provide infrastructure necessary to successfully
implement the RPA. The second type includes projects that have become
critical by virtue of the fact that their absence (de-funding or not
funding them now) would create a gap that, if not filled, would lead to a
failure at the 2003 check in.
The third category, ?discretionary but performance-related,?
contains projects that NOAA Fisheries views as individually discretionary
to BPA, although, for some RPA actions, a group of these projects must
achieve a non-discretionary performance standard by the 2003 or subsequent
check in. These are projects that have been designated by NOAA Fisheries
as BiOp-related projects that potentially contribute to meeting the
performance standards established in the BiOp for the 2003, 2005, or 2008
check-ins. While any individual project may not be critical to success,
the BiOp considered that BPA and the Action Agencies would need to
implement a substantial number of such projects throughout the basin to
achieve the performance standards. The more that are implemented, the
greater the chance of meeting the performance standards. Conversely, fewer
projects equates to a greater risk of not meeting the standards. For this
reason, BPA has identified a number of these category 3 projects as
critical to its success.
Another category considered but not displayed in Enclosure 1 includes
?Base? projects. These are projects that were ongoing and that
affected the survival of broods of salmon and steelhead returning as
adults during the base period considered in the BiOp and which will
continue to influence survival at the same rate in the proposed project.
The project therefore comprises part of the environmental baseline
presumed in the BiOp. Because they were not required in the BiOp, they
have not been assigned to one of the three categories above. However,
maintenance of the baseline will ensure that additional activities are
contributing to the achievement of performance standards and not merely
mitigating for unanticipated reductions in survival. BPA has discretion to
continue or discontinue these activities; however, NOAA Fisheries strongly
urges BPA and/or the Council to carefully consider the ramifications of
discontinuing any of these actions.
Finally, BPA and the Council should be advised that when NOAA Fisheries
identifies a specific project as being critical to meeting the 2003
check-in test, we are referring to the specific activity in the proposal
rather than referencing the project sponsor. For example, NOAA Fisheries
does not require the Action Agencies to fund our agency in order to meet
requirements of the 2003 check-in test. However, when the only listed
proposal that implements a particular RPA Action is a NOAA Fisheries
project, we do identify it as being critical. Obviously, another project
from an alternative sponsor could substitute if it was likely to produce
similar results in the same time frame.
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