lisa mangione is a senior regulatory project manager with...

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Lisa Mangione is a Senior Regulatory Project Manager with the Army Corps of Engineers Los Angeles District. She has over 25 years of professional experience in environmental permitting in California and has lived and worked in Ventura County for 17 years. With an educational background in zoology, Ms. Mangione has worked as a federal biologist and private permitting consultant for a diverse clientele including federal, state and local public works entities. She currently oversees Corps permitting for the Port of Long Beach and will be providing emergency permitting assistance to the public during the forecasted 2016 El Niño storm season.

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Page 1: Lisa Mangione is a Senior Regulatory Project Manager with ...ventura.apwa.net/Content/Chapters/ventura.apwa.net/Documents/Em… · Lisa Mangione is a Senior Regulatory Project Manager

Lisa Mangione is a Senior Regulatory Project Manager with the Army Corps of Engineers Los Angeles 

District.  She has over 25 years of professional experience in environmental permitting in California and 

has lived and worked in Ventura County for 17 years.  With an educational background in zoology, Ms. 

Mangione has worked as a federal biologist and private permitting consultant for a diverse clientele 

including federal, state and local public works entities.  She currently oversees Corps permitting for the 

Port of Long Beach and will be providing emergency permitting assistance to the public during the 

forecasted 2016 El Niño storm season.   

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US Army Corps of EngineersBUILDING STRONG®

Lisa MangioneRegulatory DivisionLos Angeles District

January 14, 2016

USACE Regulatory Program Emergency Project Permitting

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Section 404 of the Clean Water Act

• To restore and maintain the chemical, physical and biological integrity of the waters of the U.S.

• Requires that you obtain a permit for the discharge of dredged or fill material in any water of the U.S.

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Section 10 of the Rivers and Harbors Act

• To protect and preserve the navigability of navigable waters

• Requires that you obtain a permit for any structure or work in a navigable water of the U.S.

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Section 404 of the Clean Water Act Waters of the United States:• Navigable waters

For example: oceans, bays, and inlets• Tributaries to navigable waters

For example: rivers and creeks, ephemeral and intermittent streams

Lakes and ponds• Interstate bodies of water or wetlands• Wetlands adjacent to the waters listed above• Special aquatic sites: wetlands, mudflats, vegetated

shallows, riffle and pool complexes, coral reefs

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Section 10 of the Rivers and Harbors Act

DefinitionsNavigable waters: waters

subject to the ebb and flow of the tide; has a connection to transportation of interstate commerce

Interstate commerce: defined as has, had, presently has, or potential for interstate commerce

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Regulatory Jurisdiction

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Emergency Definition

An “Emergency” is a situation which would result in an unacceptable hazard to life, a

significant loss of property, or an immediate, unforeseen, and significant economic hardship

if corrective action requiring a permit is not undertaken within a time period less than the

normal time needed to process the application under standard procedures.

33 CFR 325.2 (e)(4)

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Emergency Permitting Corps determines if the situation is an “emergency.” Determine if the proposed emergency work requires a DA permit.

Jurisdictional boundary Section 10 and/or Section 404 Regulated activity? Section 404 exemption: “Maintenance, including emergency reconstruction of recently damaged parts…”

If DA permit is required, determine type of permit General Permit (NWP, RGP) – Minimal Impacts; District Engineer Standard Permit – Greater than minimal impacts; Division Engineer

Reasonable efforts will be made to receive comments from interested Federal, State, and local agencies and the affected public. (33 CFR 325.2(e)(4))

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Non-Regulated Work*

No permit required for: Clean excavation Certain mowing Clearing with hand tools Work in uplands Most clearing in concrete lined channels

*Note: Associated activities, including grading or fill related to channel access, dewatering, stockpiling, etc. may require a permit

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404(f) Exemptions Exemptions – Discharges not requiring permits (Section 404 waters only)

33 CFR 323.4(2) Maintenance, including emergency reconstruction of recently damaged parts, of currently serviceable structures such as dikes, dams, levees, groins, riprap, breakwaters, causeways, bridge abutments or approaches, and transportation structures. Maintenance does not include any modification that changes the character, scope, or size of the original fill design. Emergency reconstruction must occur within a reasonable period of time after damage occurs in order to qualify for this exemption.

There are currently no exemptions for work

proposed in designated Section 10 waterways

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Regional General Permits – Many Districts have emergency RGPs for certain types of work. Nationwide Permits – Use applicable NWP for the category of work.

NWP 3 – Maintenance provided the work is commenced or under contract to commence within 2 years of the date of destruction or damage; 2-year limit may be waived by the district engineer

NWP 45 – Repair of Uplands Damaged by Discrete Events Work must commence, or be under contract to commence, within two years of the date of damage, unless this condition is waived in writing by the district engineer NWP does not apply to land lost to normal erosion NWP does not authorize beach restoration or nourishment.

Other NWPs may apply (e.g. NWP 13 for bank stabilization) and may be expedited for high priority actions that don’t qualify as emergencies

Standard Permits (IP or LOP) – For projects with greater than minimal impacts (IP) or Section 10 only impacts (LOP); Division Engineer will instruct the District Engineer on processing application.

Emergency Authorizations

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RGP 63

Los AngelesDistrict RGP for Emergency Activities

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RGP 63 Section 10 and 404 Authorizes necessary repair and protection measures

associated with an emergency situation Requires written notification to Corps Agency coordination required Corps provides written authorization to proceed Work must be initiated within 14 days Post-project report due within 45 days of project

completion Includes programmatic 401 Certification from Water

Quality Board (notification required)

ajs4

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Slide 13

ajs4 I reduced the font and added this last bullet item since the 401 cert is a key component of RGP 63. 401 certs are often the critical path on minimal impact type projects. Not sure how deeply you want to delve into this but I often find applicants (and even the reg board) want us to go with the RGP to avoid the need for an individual 401 cert in borderline situations.l1corajs, 1/5/2016

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External Coordination

Applicant: Regional Water Quality Control Board - Notification required

California Coastal Commission – CDP required; CCC emergency information materials available

Corps: National Marine Fisheries Service (NMFS)

U.S. Fish and Wildlife Service (USFWS)

Environmental Protection Agency (EPA)

State Historic Preservation Office (SHPO)

Federally Recognized Tribes (Tribes)

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Summary Emergency situation – Is definition met? Jurisdiction – Is work in jurisdictional waters? Regulated activity – Is work regulated by Corps? Exemption – Does work qualify for exemption? Permitting options – RGP, SIP, NWP

Please contact the Corps for guidance and permitting assistance in emergency situations

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Local Corps ContactsAaron Allen, North Coast Branch Chief• (805) 585-2148• [email protected]• Ventura, Santa Barbara, San Luis Obispo, Inyo and Mono Counties

Antal Szijj, Senior Regulatory Project Manager• (805) 585-2147• [email protected]• Ventura County

Lisa Mangione, Senior Regulatory Project Manager• (805) 585-2150• [email protected]• General assistance

David Castanon, Regulatory Division Chief• (805) 585-2141• [email protected]• High level inquiries

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Questions?

www.spl.usace.army.mil/regulatory