80_FR_41153 80 FR 41019 - Record of Decision; Electrical Interconnection of the Whistling Ridge Energy Project

80 FR 41019 - Record of Decision; Electrical Interconnection of the Whistling Ridge Energy Project

DEPARTMENT OF ENERGY
Bonneville Power Administration

Federal Register Volume 80, Issue 134 (July 14, 2015)

Page Range41019-41029
FR Document2015-17087

The Bonneville Power Administration (BPA) has decided to implement its part of the Proposed Action identified in the Whistling Ridge Energy Project Final Environmental Impact Statement (EIS) (DOE/ EIS-0419, August 2011). Under the Proposed Action, BPA will offer Whistling Ridge Energy LLC (WRE) contract terms for interconnection of WRE's planned Whistling Ridge Energy Project (Wind Project) with the FCRTS. WRE's Wind Project will be an up to 75-megawatt (MW) wind energy facility located in Skamania County, Washington. WRE has received approval to construct and operate the Wind Project from the Governor of the State of Washington, based on the recommendation of the Washington Energy Facility Site Evaluation Council (EFSEC), which is the siting authority for the Wind Project. To allow the interconnection of WRE's Wind Project to the FCRTS, BPA will construct and operate a new 230-kilovolt (kV) substation and associated facilities that will connect the Wind Project to BPA's existing North Bonneville-Midway 230-kV transmission line, which passes through the southern portion of the Wind Project site.\1\ These interconnection facilities will be located entirely within the boundaries of the Wind Project site. BPA also will execute a Large Generation Interconnection Agreement (LGIA) with WRE to provide interconnection services for the Wind Project. ---------------------------------------------------------------------------

Federal Register, Volume 80 Issue 134 (Tuesday, July 14, 2015)
[Federal Register Volume 80, Number 134 (Tuesday, July 14, 2015)]
[Notices]
[Pages 41019-41029]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-17087]


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DEPARTMENT OF ENERGY

Bonneville Power Administration


Record of Decision; Electrical Interconnection of the Whistling 
Ridge Energy Project

AGENCY: Bonneville Power Administration (BPA), Department of Energy 
(DOE).

ACTION: Record of Decision (ROD).

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SUMMARY: The Bonneville Power Administration (BPA) has decided to 
implement its part of the Proposed Action identified in the Whistling 
Ridge Energy Project Final Environmental Impact Statement (EIS) (DOE/
EIS-0419, August 2011). Under the Proposed Action, BPA will offer 
Whistling Ridge Energy LLC (WRE) contract terms for interconnection of 
WRE's planned Whistling Ridge Energy Project (Wind Project) with the 
FCRTS. WRE's Wind Project will be an up to 75-megawatt (MW) wind energy 
facility located in Skamania County, Washington. WRE has received 
approval to construct and operate the Wind Project from the Governor of 
the State of Washington, based on the recommendation of the Washington 
Energy Facility Site Evaluation Council (EFSEC), which is the siting 
authority for the Wind Project.
    To allow the interconnection of WRE's Wind Project to the FCRTS, 
BPA will construct and operate a new 230-kilovolt (kV) substation and 
associated facilities that will connect the Wind Project to BPA's 
existing North Bonneville-Midway 230-kV transmission line, which passes 
through the southern portion of the Wind Project site.\1\ These 
interconnection facilities will be located entirely within the 
boundaries of the Wind Project site. BPA also will execute a Large 
Generation Interconnection Agreement (LGIA) with WRE to provide 
interconnection services for the Wind Project.
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    \1\ This Record of Decision generally uses the term ``Wind 
Project'' to refer to all aspects of WRE's proposal except for the 
BPA interconnection facilities, and uses the term ``Project'' in 
referring to both the Wind Project and the BPA interconnection 
facilities. In this Record of Decision, ``Interconnection 
facilities'' may include any network upgrades or transmission 
provider interconnection facilities that are necessary to support 
the interconnection of the Wind Project.

ADDRESSES: This Record of Decision will be available to all interested 
parties and affected persons and agencies and is being sent to all 
stakeholders who requested a copy. Copies of the Whistling Ridge Energy 
Project Draft and Final EISs, the Supplement Analysis that has been 
prepared, and additional copies of this document can be obtained from 
BPA's Public Information Center, P.O. Box 3621, Portland, Oregon, 
97208-3621. Copies of these documents may also be obtained by calling 
BPA's nationwide toll-free request line at 1-800-622-4520, or by 
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accessing BPA's Project Web site at www.bpa.gov/go/whistling.

FOR FURTHER INFORMATION CONTACT: Amy Gardner, Transmission Project 
Manager, Bonneville Power Administration--TEP-TPP-1, P.O. Box 61409, 
Vancouver, WA 98666-1409; toll-free telephone number 1-800-622-4519; or 
email [email protected] or Katey Grange, Environmental Protection 
Specialist, Bonneville Power Administration--KEC-4, P.O. Box 3621, 
Portland, Oregon, 97208-3621; toll-free telephone number 1-800-622-
4519; or email [email protected].

SUPPLEMENTARY INFORMATION: 

Background

BPA and FCRTS Interconnection Requests

    BPA is a federal agency that owns and operates the majority of the 
high-voltage electric transmission system in the Pacific Northwest. 
This system is known as the FCRTS. BPA has adopted an Open Access 
Transmission Tariff (tariff) for transmission and interconnection 
services on the FCRTS, generally consistent with the Federal Energy 
Regulatory Commission's (FERC) pro forma open access tariff.\2\
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    \2\ Although BPA is not subject to FERC's jurisdiction, BPA 
follows the open access tariff as a matter of national policy. This 
course of action ensures that BPA will receive reciprocal and non-
discriminatory access to the transmission systems of utilities that 
are subject to FERC's jurisdiction.
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    BPA's tariff establishes processes for accepting requests to 
interconnect to the FCRTS, conducting interconnection studies and 
environmental reviews for these requests, and offering LGIAs on a 
first-come, first served basis in response to the requests. For all 
requests for interconnection of generating facilities that exceed 20 
MW, BPA has adopted processes that are generally consistent with FERC's 
Order No. 2003, Standardization of Large Generator Interconnection 
Agreement and Procedures, and Order No. 661, Interconnection for Wind 
Energy. Orders No. 2003 and 661 provide a uniform process and agreement 
for studying and offering interconnection to wind generating facilities 
exceeding 20 MW. In its Order No. 2003 compliance filing, BPA included 
provisions in its Large Generator Interconnection Procedures (LGIP) 
that reflect BPA's obligation to complete environmental

[[Page 41020]]

review under the National Environmental Policy Act (NEPA) of a proposed 
large generation interconnection before deciding whether to offer a 
LGIA to the party requesting interconnection.
    Although BPA accepts requests for interconnection of proposed and 
existing generating facilities to the FCRTS, BPA does not have siting 
authority or regulatory jurisdiction over these facilities. That is the 
purview of appropriate state and local entities, and BPA acknowledges 
and respects the authority and jurisdiction of these entities on 
generation facility siting matters.

WRE's Application and EIS Process

    In 2009, WRE \3\ submitted an Application for Site Certification to 
Washington EFSEC to construct and operate the Whistling Ridge Energy 
Project in Skamania County, Washington. EFSEC is a Washington state 
agency that was created to provide a ``one-stop'' state licensing 
agency for certain energy facilities in Washington. As such, EFSEC has 
siting authority over these energy facilities, and parties proposing to 
construct and operate any such facility must apply to EFSEC for siting 
review. In addition, energy facilities that exclusively use alternative 
energy resources (such as wind, solar, geothermal, landfill gas, wave 
or tidal action, or biomass energy) can ``opt-in'' to the EFSEC review 
and certification process. In the case of the Wind Project, WRE elected 
to opt in to the EFSEC process through submittal of its application.\4\ 
WRE's application identified a proposed wind energy facility consisting 
of up to 50 wind turbines that could each range in size from 1.2 to 2.5 
MW, with a total installed capacity of up to approximately 75 MW. The 
proposal also included an Operations and Maintenance (O&M) facility, an 
electrical collector substation, underground collector lines and 
systems, and other ancillary facilities.
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    \3\ WRE is a limited liability company created by SDS Lumber 
Company.
    \4\ More information about Washington EFSEC's siting review 
process for the Whistling Ridge Energy Project is available at the 
EFSEC Web site at: http://www.efsec.wa.gov/whistling%20ridge.shtml.
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    In addition to applying to EFSEC for siting of its Wind Project, 
WRE submitted a request to BPA to interconnect the Wind Project to the 
FCRTS. BPA processed the request under its LGIP, including conducting 
interconnection studies and environmental review of the proposed 
interconnection.
    To meet respective obligations under the State Environmental Policy 
Act (SEPA) and NEPA, Washington EFSEC and BPA decided to conduct a 
joint environmental review and prepare a joint EIS under SEPA and NEPA 
for the Wind Project and proposed interconnection. BPA formally 
initiated the NEPA EIS process by publishing a Notice of Intent to 
prepare an EIS in the Federal Register (74 FR 18213) in April 2009. The 
Notice of Intent described the proposal and the respective roles of 
Washington EFSEC and BPA, and explained the environmental process and 
how to submit scoping comments for the Draft EIS. At the same time, BPA 
also sent a letter that also provided this information to approximately 
250 individuals. During the EIS scoping period, BPA and EFSEC jointly 
conducted two public informational and EIS scoping meetings in 
Stevenson, Washington, and Underwood, Washington. BPA also established 
a Web site (www.bpa.gov/go/whistling) with information about the 
project and the EIS process. Comments received during scoping are 
described in more detail in Chapter 1 of the Final EIS and in the EIS 
Scoping Report (August 2009) prepared by EFSEC in consultation with 
BPA.\5\
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    \5\ The EIS Scoping Report is available at the Washington EFSEC 
Web site at: http://www.efsec.wa.gov/Whistling%20Ridge/SEPA/WR%20Environmental.shtml.
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    In May 2010, BPA and EFSEC issued the Draft EIS for public review 
and comment. In addition to distributing the Draft EIS to individuals, 
organizations, and agencies who had previously requested it, BPA posted 
the Draft EIS at the BPA project Web site and sent letters announcing 
its availability to potentially interested parties. A Notice of 
Availability of the Draft EIS also was published in the Federal 
Register (75 FR 30023) on May 28, 2010. BPA and EFSEC initially 
established a 45-day review and comment period for the Draft EIS, but 
later extended the comment period for an additional 39 days (for a 
total 84-day Draft EIS comment period) based on public requests. During 
the Draft EIS comment period, BPA and EFSEC held two public meetings in 
Stevenson and Underwood, Washington to help explain the Draft EIS and 
to accept public comments.
    BPA and EFSEC received a total of 608 comment letters on the Draft 
EIS. From these letters and the two Draft EIS public meetings, BPA and 
EFSEC identified approximately 2,100 individual comments. After careful 
consideration of all of these comments, BPA and EFSEC issued the Final 
EIS for the Project in August 2011. The Final EIS responded to all 
comments received on the Draft EIS and made necessary corrections and 
revisions to the EIS text. As with the Draft EIS, BPA distributed the 
Final EIS to individuals, organizations, and agencies who had 
previously requested it, posted it at the BPA project Web site, and 
sent out letters announcing its availability to potentially interested 
parties. A Notice of Availability of the Final EIS also was published 
in the Federal Register (76 FR 54767) on September 2, 2011.

EFSEC's Adjudicative Proceeding

    Concurrent with preparation of the EIS for the Project, EFSEC also 
held an adjudicative proceeding for WRE's application under Chapter 
34.05 of the Revised Code of Washington (RCW) as part of its siting 
review process for the Wind Project. EFSEC's adjudicatory proceedings 
are a formal hearing process similar to a courtroom proceeding, in 
which the applicant and opponents are allowed the opportunity to 
present information to support their cases concerning the applicant's 
proposed project.
    As an initial step, EFSEC held a land use hearing for the Wind 
Project in May 2009. This hearing was held to determine whether the 
Wind Project was consistent with applicable local and regional land use 
plans and zoning ordinances. In addition to taking evidence at this 
hearing, 16 witnesses testified at the hearing concerning the Wind 
Project. EFSEC also received almost 400 comment letters and evidentiary 
submissions regarding land use consistency.
    EFSEC then conducted its adjudicative proceeding for the Wind 
Project. After issuing a notice of intent to hold the proceeding, 
several prehearing conferences were held between July 2009 and December 
2010. The formal adjudicative hearing was then held over several days 
in January 2011. In addition to receiving testimony from 17 parties and 
65 witnesses on the adjudication hearing record, EFSEC also received 
almost 400 written submissions regarding the adjudication.
    In October 2011, Washington EFSEC issued its Final Adjudicative 
Order for the Wind Project that presented its conclusions and findings 
concerning both the land use hearing and the adjudicative 
proceeding.\6\ Regarding land use consistency, EFSEC noted that the 
Wind Project site is located in an

[[Page 41021]]

area within Skamania County that is designated as ``Conservancy'' by 
the County's Comprehensive Plan and that is unmapped under the County's 
Zoning Ordinance. After considering several factors, EFSEC determined 
that the Wind Project is consistent with the Conservancy designation in 
the Comprehensive Plan, and that the Wind Project is compliant with 
current zoning in the unmapped zone because wind generation has not 
been found to be a nuisance by a court.
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    \6\ EFSEC's Final Adjudicative Order for the Wind Project is 
available at: http://www.efsec.wa.gov/Whistling%20Ridge/Adjudication/Orders/WR%20Adj%20Order%20868%2010-7-2011.pdf.
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    Regarding the adjudicative proceeding, EFSEC found that need 
existed for the Wind Project, especially considering RCW 80.50.010's 
recognition of the ``pressing need for increased energy facilities'' 
and legislation that required sustainable energy to account for 15 
percent of the State's energy supply by 2020. See RCW 19.285.010. EFSEC 
then turned to the issue of whether the Wind Project would create a net 
benefit after considering its impacts. EFSEC found that the ``most 
hotly contested'' impact was on the aesthetic and cultural heritage of 
the area, largely due to the visibility of some of the Wind Project's 
proposed wind turbines from the Columbia River Gorge National Scenic 
Area (Scenic Area) as well as other portions of the Columbia River 
Gorge. EFSEC noted that while the Wind Project is not the first 
development to occur in the area, as transmission lines, hydroelectric 
dams, highways, rail lines, and industrial, commercial, and residential 
development already exist, it nonetheless desires to preserve the views 
within the Columbia River Gorge as much as possible. EFSEC also noted 
that while most of the Wind Project's turbines would be only partially 
visible from only a few viewing locations, two ``strings'' of 
turbines--string A-1 through A-7 and string C-1 through C-8--would be 
prominently visible from certain locations within the Columbia River 
Gorge. Based on these concerns, EFSEC concluded that these two turbine 
strings should not be approved.
    EFSEC's Final Adjudicative Order also addressed concerns regarding 
the Wind Project's impact on wildlife and wildlife habitat. It 
recognized that although there was significant wildlife habitat in the 
general area, the Project site is a managed commercial/industrial 
timber operation and is not pristine natural land. The Washington 
Department of Fish and Wildlife (WDFW) acknowledged that with 
appropriate mitigation measures, the Project would comply with its 
guidelines. After considering various arguments and evidence, EFSEC 
determined that with appropriate mitigation measures and monitoring, 
the project should go forward. Finally, the Final Adjudicative Order 
addressed several other issues with the Wind Project, such as noise 
issues, geological challenges, access road issues, cultural and 
archeological concerns, health and safety planning, and site 
restoration planning. Based on its evaluation and balancing of all of 
these considerations, EFSEC concluded that the Wind Project should be 
approved as proposed with the exception of turbine strings A-1 through 
A-7 and C-1 through C-8, which should be denied.

EFSEC's Recommendation and the Governor's Approval

    In January 2012, Washington EFSEC transmitted its Recommendation 
Order for the Wind Project and associated relevant materials to the 
Washington State Governor.\7\ Consistent with the Final Adjudicative 
Order, the Recommendation Order recommended that the Governor approve 
all aspects of the Wind Project except for turbine strings A-1 through 
A-7 and C-1 through C-8, which it recommended denying. The 
Recommendation Order also identified suggested conditions to be imposed 
if the Governor were to approve the Wind Project. A draft Site 
Certificate Agreement (SCA) was provided with the Recommendation Order 
that limited the total maximum number of allowed Wind Project turbines 
to up to 35 turbines (thereby reflecting the denial of turbine strings 
A-1 through A-7 and C-1 through C-8) and that included the suggested 
conditions of approval. However, neither the Recommendation Order nor 
the draft SCA limited the total installed capacity (up to 75 MW) of the 
Wind Project.
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    \7\ The Recommendation Order (EFSEC Order No. 869) and 
associated recommendation materials are available at the EFSEC Web 
site at: http://www.efsec.wa.gov/whistling%20ridge.shtml.
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    In March 2012, the Governor of Washington approved the Whistling 
Ridge Energy Project as recommended by EFSEC in its Recommendation 
Order. The Governor also executed the Final SCA at that time. In her 
approval letter to EFSEC, the Governor explained her agreement with 
EFSEC concerning the denial of the two turbine strings that would be 
prominently visible from certain locations within the Columbia River 
Gorge and the balancing of visual impacts with the public interest in 
approving sites for alternative energy facilities. \8\
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    \8\ The Final SCA and the Governor's approval letter are also 
available at: http://www.efsec.wa.gov/whistling%20ridge.shtml.
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Legal Challenge to the Governor's Approval

    In April 2012, two environmental groups--Friends of the Columbia 
Gorge and Save Our Scenic Area (collectively Friends)--filed a petition 
in Washington state court for judicial review of the Governor's 
approval and execution of the SCA for the Whistling Ridge Energy 
Project. Friends had participated in EFSEC's adjudicatory proceedings 
and had submitted comments during the EIS process for the Wind Project. 
During both processes, Friends raised various concerns about the Wind 
Project and urged that approval of the Project be denied.
    In its petition for judicial review, Friends primarily challenged 
the SCA and whether it, and the process leading up to it, complied with 
various statutory and regulatory requirements. Friends sought 
invalidation of the SCA and remand to EFSEC for further study and 
evaluation of the Wind Project. As provided for under RCW 80.50.140, 
Friends' petition was certified for review directly to the Washington 
Supreme Court.
    In August 2013, the Washington Supreme Court issued its opinion in 
the Friends' legal challenge to the Wind Project.\9\ After reviewing 
all of Friend's legal claims, the Court found no basis to reverse 
EFSEC's recommendation or the Governor's approval of the Wind Project. 
The Court first found that WRE's Application for Site Certification 
satisfied the requirements of the Washington Administrative Code (WAC) 
regarding application procedures, more particularly in the areas of 
assessing nighttime avian collisions, considering wind power guidelines 
issued by the Washington Department of Fish and Wildlife, and 
identifying proposed mitigation measures. Next, the Court found that 
EFSEC had complied with the WAC's fish and wildlife requirements. More 
specifically, the Court found that EFSEC had not violated the WAC's 
``no net loss'' requirement for wildlife habitat and had properly 
considered the results of wildlife surveys in determining that WAC 
requirements were met.
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    \9\ The Washington Supreme Court's opinion is available at: 
http://www.efsec.wa.gov/Whistling%20Ridge/Appeal/88089-1%20opinion.pdf.
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    The Court then proceeded to reject Friends' remaining claims by 
finding no fault in how EFSEC had addressed a proposed mitigation 
parcel; mitigated for aesthetic, heritage, and recreational impacts; 
made a determination of consistency with Skamania County's zoning code; 
resolved Washington State

[[Page 41022]]

Forest Practices Act compliance requirements; or treated Forest 
Practices Act compliance requirements in the SCA.
    As a result, the Washington Supreme Court affirmed EFSEC's 
recommendation and the Governor's approval of the Wind Project.

Alternatives Considered

    The Final EIS prepared jointly by Washington EFSEC and BPA 
considered in detail the Proposed Action and the No Action Alternative. 
The Final EIS also discussed other alternatives that were considered 
but eliminated from detailed study in the EIS. The following summarizes 
the alternatives that were considered in detail in the EIS.

Proposed Action

    The Proposed Action involves the State of Washington's approval of 
WRE's Wind Project and BPA's grant of an interconnection of the Wind 
Project to the FCRTS. Under the Proposed Action, the Wind Project 
facilities and the BPA interconnection facilities will be constructed 
and operated within an approximately 1,150-acre site about 7 miles 
northwest of the City of White Salmon in Skamania County, Washington. 
This site is private commercial forestland in an unincorporated area of 
Skamania County, outside of the Scenic Area. Although the Wind Project 
site is relatively large, only a small portion of the site will 
actually be developed with Project facilities. About 56 acres would be 
permanently developed with these facilities, and another approximately 
52 acres would be subject to temporary disturbance primarily from 
construction activities.\10\ As a longstanding commercial forestry 
site, no old growth forests exist in areas where the Project will be 
developed.
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    \10\ The acreages described in this section represent the 
maximum amounts identified in the Whistling Ridge Energy Project 
Final EIS; actual acreages for the Project as approved by the State 
of Washington will be less.
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    The Wind Project will have a total installed capacity of up to 75 
MW and includes wind turbines, an electrical collector system, other 
components, and access roads as described below. The BPA 
interconnection facilities, including a substation and transmission 
lines, that will be constructed to interconnect the Wind Project are 
also described below.\11\
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    \11\ A more detailed discussion of the Proposed Action and the 
components of the Project is contained in Chapter 2 of the Whistling 
Ridge Energy Project Final EIS.
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Wind Turbines
    Up to 35 wind turbines, each ranging from 1.2 to 2.5 MW in 
generating capacity, will be installed in ``strings'' generally along 
ridgelines within the Project site.
    Turbine towers will be approximately 221 to 265 feet tall at 
turbine hub height, and up to 426 feet tall including blades. The 
turbines will all be the same model, although height may vary in 
response to terrain. The turbine towers will be tapered, hollow tubular 
structures, approximately 14 feet in diameter at the base and mounted 
on a concrete foundation with a diameter up to approximately 60 feet. 
The towers will likely be painted a flat neutral gray or white color. 
Some of the towers will be furnished with blinking lights visible to 
aircraft.
    In each turbine string, individual turbines will be spaced 
approximately 350 to 800 feet from the next (or approximately 1.5 to 
2.5 times the diameter of the turbine rotor). Specific turbine strings 
have been identified and approved by the State of Washington through 
its siting process for the Wind Project. The precise location of each 
turbine within these limited areas will be determined during EFSEC's 
``micro-siting'' process, which is the final technical and engineering 
process by which WRE will provide EFSEC with the final exact location 
for each turbine.
    The wind turbines will operate at wind speeds from 9 to 56 miles 
per hour, with a rotor speed range of 10 to 20 rotations per minute. 
The turbines operate on a variable pitch principal in which the rotor 
blades rotate to keep them at the optimum angle to maximize output for 
all wind speeds. At speeds exceeding 56 mph, the blades feather on 
their axis and the rotor stops turning. Each turbine is equipped with a 
wind vane that signals wind direction changes to the turbine's 
electronic controller. The electronic controller operates electric 
motors (the yaw mechanism), which turn the nacelle and rotor so that 
each turbine faces into the wind.
    As described earlier in this Record of Decision, WRE originally had 
proposed developing up to 50 wind turbines at the Wind Project site. 
Accordingly, in order to provide an analysis of the maximum potential 
development, a maximum 50-turbine wind project was what was described 
and evaluated in the EIS for the Wind Project. The State of 
Washington's approval of the Wind Project, however, denied turbine 
strings A-1 through A-7 and C-1 through C-8, thereby not approving 15 
turbine sites out of the original 50 potential sites originally 
proposed. By authorizing up to 35 turbines, the SCA reflects this 
denial of these two turbine strings. In all other respects, including 
the maximum total installed capacity (up to 75 MW), the Wind Project 
remains the same as described and evaluated in the EIS.
    Because the State of Washington's decision to deny turbine strings 
A-1 through A-7 and C-1 through C-8 occurred after the Final EIS had 
issued, BPA prepared a Supplement Analysis pursuant to its NEPA 
Regulations to review whether the resulting authorized turbine 
limitation constituted a ``substantial change'' in the Proposed Action 
within the meaning of NEPA.\12\ In the Supplement Analysis, BPA 
determined that the denial of these turbines was not such a change. The 
Supplement Analysis that BPA has prepared is available at www.bpa.gov/ 
go/ whistling.
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    \12\ U.S. Department of Energy NEPA Regulations, which are 
applicable to BPA, allow for the preparation of a Supplement 
Analysis to determine whether a new or supplemental EIS is required 
for changes to a proposed action covered in an existing EIS, or 
whether no further NEPA documentation is required. See 10 CFR 
1021.314.
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Electrical Collector System
    In addition to wind turbines, the Wind Project includes an 
electrical collector system to collect and deliver the energy generated 
at Project turbines to the Project's collector substation. Each turbine 
will generate energy at approximately 575 volts (V). A 575 V to 34.5-kV 
transformer will be installed at each turbine, either on a transformer 
pad adjacent to the turbine or enclosed in the turbine's nacelle, 
depending on the turbine model. From there, the collected energy will 
be transmitted to the collector substation via underground 34.5-kV 
electric cables. Approximately 8.5 miles of underground collector 
cables will be installed. In areas where environmental constraints, 
geologic features, or cultural features necessitate, minor above ground 
placement of collector cables may occur.
    All of the underground 34.5-kV electric cables will connect to the 
Wind Project's collector substation located in the southern portion of 
the Wind Project site immediately adjacent to the new BPA 
interconnection substation. The collector substation will include 
voltage transformers (non-polychlorinated biphenyl oil-filled types) to 
transform the collected Project energy from 34.5-kV to 230-kV so that 
it is suitable for delivery to the FCRTS at the new BPA substation. The 
collector substation will be a graveled, fenced area that would include 
the voltage transformers, switching equipment, other electrical

[[Page 41023]]

equipment, and a parking area. A 50-foot cleared area will be 
maintained around this substation.
Other Wind Project Components
    To support the Wind Project, an Operations and Maintenance (O&M) 
facility will be constructed. The O&M facility will be located on an 
approximately 5-acre area either adjacent to the Wind Project's 
collector substation or about one-half mile west of the Wind Project 
site along West Pit Road. This 5-acre area will be fenced and have a 
locked gate. The O&M facility will be constructed of sheet metal and be 
approximately 16 feet tall to the roof peak. The facility will have 
approximately 3,000 square feet of enclosed space, including office and 
workshop areas, a kitchen, bathroom, shower, and utility sink. Water 
for the facility will come from a new on-site well; anticipated water 
use at this facility is expected to be less than 5,000 gallons per day. 
Water used by the facility will drain into an on-site septic system. A 
graveled parking area for employees, visitors, and equipment will be 
located adjacent to the O&M facility.
    In addition, a meteorological tower will be installed to collect 
and monitor wind speed and direction information as well as 
temperature, relative humidity and barometric pressure. The location 
for this tower will be determined during EFSEC's micro-siting process, 
based on a meteorologist's recommendations for an on-site location that 
best represents the Wind Project site's meteorological conditions. 
Meteorological towers are typically un-guyed lattice towers with either 
three or four corners that taper in size up to the tower's top. These 
towers are constructed so that the top of the tower--and the 
meteorological monitoring equipment installed there--is at the same 
approximate height as the hub of nearby wind turbines (i.e., in the 
case of the Wind Project, approximately 221 to 262 feet high).
Access Roads
    Much of the Wind Project site is accessible through an already 
existing network of logging roads at the site. Approximately 7.9 miles 
of existing logging roads at the site will be improved to allow use by 
Project construction vehicles. These improvements generally will 
involve road widening and providing a gravel all-weather surface. These 
roads currently are generally 8 to 12 feet wide, although some are as 
wide as 20 feet. Most of these roads will be widened to approximately 
25 feet (width of finished road), with an additional 5 feet of shoulder 
on either side.
    In portions of the Wind Project site where there are no existing 
logging roads, approximately 2.4 miles of new permanent access roads 
will be constructed. To construct these roads, a gravel surface will be 
installed, compacted to meet all equipment load requirements, and 
maintained to reduce wind erosion and dust. In addition, some temporary 
access may be required at some locations. Generally, equipment will be 
driven across open ground to access these locations, and some minor 
grading may be required to allow safe access. Any temporary access 
routes will be re-graded and reseeded as necessary to restore 
vegetation after construction is completed.
    Off of the Wind Project site, access to the site will occur from SR 
14 and County roads (Cook-Underwood Road to Willard Road) and then via 
a new connection to West Pit Road which connects to the Wind Project 
site. Approximately 2.5 miles of roadway improvements will occur on 
West Pit Road, which currently varies in width between 20 and 26 feet. 
To create a drivable surface of 25 feet with 5 feet of clearing on each 
side, portions of the roadway and some corners will be widened. In 
addition, an existing culvert that runs along a portion of this road 
may need some additional lengthening if the roadway is widened over the 
culvert.
BPA Interconnection Facilities
    BPA will construct a new substation (currently referred to as the 
Little Buck Substation) to interconnect the Wind Project to the FCRTS. 
The new BPA substation will be located adjacent to the Wind Project's 
collector substation in the southern portion of the Wind Project site, 
near the southernmost BPA transmission line corridor that passes 
through the site. BPA's existing Underwood Tap to Bonneville Powerhouse 
1-North Camas 115-kV transmission line runs along the northern side of 
this corridor, while BPA's existing North Bonneville-Midway 230-kV 
transmission line runs along the southern side of the corridor.
    Overhead lines will connect the Wind Project's collector substation 
to the BPA substation. The BPA substation will occupy an area of 
approximately 430 feet by 430 feet or approximately 4.25 acres. This 
area will be fenced, graded and rocked. Inside the fence, there will be 
a control house, six 230-kV disconnect switches, three 230-kV power 
circuit breakers, steel structures and towers, insulators and bus work. 
The graveled access roads described above will provide access to the 
BPA substation.
    From the BPA substation, two new overhead 230-kV transmission lines 
will extend south for about 1,000 feet to the interconnection point on 
BPA's North Bonneville-Midway transmission line. These overhead lines 
will serve to ``loop in'' the new BPA substation to the North 
Bonneville-Midway transmission line. Ten transmission structures will 
be installed to provide this loop-in. Two of these structures will be 
installed along the North Bonneville-Midway transmission line to create 
a ``break'' in this line for the loop-in. One of these structures will 
direct the line north to the new substation and the other will connect 
it back into the existing alignment. Both structures will be steel 
lattice dead-end towers that will be installed entirely within the 
existing transmission line right-of-way. Due to topography, one of 
these structures will be 50 feet tall and the other will be 85 feet 
tall.
    The other eight transmission structures will be wood pole 
structures installed in between the BPA substation and the 
interconnection point to support the two new overhead lines. Each of 
the two lines will have four structures installed. For each line, the 
structure closest to the BPA substation will be a three-pole H-frame 
structure as will the structure closest to the interconnection point. 
The remaining two structures for each line will be two-pole H-frame 
structures. The eight structures will be installed in a previously 
disturbed corridor running from the BPA substation to the 
interconnection point. The heights of the eight structures will range 
from 50 to 80 feet, depending on terrain.
    In addition, because the loop-in will need to cross underneath the 
Underwood Tap to Bonneville Powerhouse 1-North Camas transmission line 
to reach the North Bonneville-Midway transmission line, a new steel 
lattice structure will be installed along the Underwood Tap to 
Bonneville Powerhouse 1-North Camas transmission line to raise its 
conductors such that the loop-in can safely cross underneath. This 
tower will be approximately 80 feet tall and installed entirely within 
the existing transmission line right-of-way. This tower and all other 
BPA interconnection facilities will be located outside of the Scenic 
Area.

No Action Alternative

    The No Action Alternative described in the Final EIS involved the 
State of Washington denying WRE's Application for Site Certification 
for the Wind Project and/or BPA not granting

[[Page 41024]]

interconnection of the Project to the FCRTS. As a result, the Project 
and its various components would not be constructed or operated under 
the No Action Alternative, and the environmental effects associated 
with Project construction and operation would not occur.\13\ 
Accordingly, under this alternative, the Wind Project's output would 
not be available to utilities seeking renewable energy resources in 
order to meet state renewable energy goals, or to meet the region's 
potential need for additional power in coming years.
---------------------------------------------------------------------------

    \13\ At this point in time, the conclusion that the Wind Project 
would not be constructed and operated if BPA were to deny 
interconnection may no longer be true, given that the State of 
Washington has approved the Wind Project and granted a SCA to WRE. 
This state approval allows WRE to build its Wind Project regardless 
of BPA's action on the interconnection request. Thus, it is 
conceivable that even if BPA denied interconnection, WRE could still 
build its Wind Project and seek interconnection of the Wind Project 
to the transmission lines of another transmission provider, such as 
Klickitat or Skamania PUD. Nonetheless, for the purposes of this 
Record of Decision and the NEPA analysis, BPA continues to presume 
that the Wind Project would not be constructed and operated under 
the No Action Alternative, as is stated in the Final EIS.
---------------------------------------------------------------------------

    While the Project would not be constructed or operated under the No 
Action Alternative, activities with environmental effects would still 
continue to occur on the Wind Project site. This site has been in 
commercial forestry use for the last century, during which the site has 
been logged over a series of approximately 50-year logging rotations. 
It is reasonable to expect that SDS Lumber and others will continue to 
use the site for commercial forestry production--which would include 
regular tree clearing, harvesting, replanting, and development of 
additional logging roads as necessary--for the foreseeable future if 
the Project is not built.
    On balance and overall, however, the development of a wind 
generation facility at the Project site likely will result in greater 
local environmental impacts than would occur from continued periodic 
commercial forestry production under the No Action Alternative. The No 
Action Alternative thus is the environmentally preferable alternative.

Public Comments Received Since Issuance of the Final EIS

    Following issuance of the Final EIS, BPA received comments 
concerning the Project and EIS from various parties. These comments can 
be viewed on-line at: www.bpa.gov/go/whistling. BPA has reviewed and 
considered all of these comments in making its decision about 
interconnecting the Project to the FCRTS.
    Although NEPA does not require written responses to comments 
received on a Final EIS, this section of the Record of Decision 
summarizes and addresses the comments about the Project and EIS that 
BPA received after issuing the Whistling Ridge Energy Project Final 
EIS. Some of the comments that BPA received identify post-Final EIS 
developments that the commenter believes warrant preparation of a 
supplemental EIS. These post-Final EIS developments include the State 
of Washington's decision to deny turbine strings A-1 through A-7 and C-
1 through C-8, as well as additional environmental information 
potentially relevant to the Wind Project. As previously indicated in 
this Record of Decision, BPA has prepared a Supplement Analysis to 
address the state's denial of certain turbine strings; this Supplement 
Analysis also addresses additional environmental information 
potentially relevant to the Wind Project that has been raised by 
commenters, as well as other additional information and circumstances 
that BPA has become aware of. For comments that identified post-Final 
EIS developments, a summary response to each of these comments is 
provided here, with a more detailed consideration and evaluation of the 
post-Final EIS developments and whether or not they warrant preparation 
of a supplemental EIS contained in the Supplement Analysis that BPA has 
prepared. As previously indicated, the Supplement Analysis is available 
at www.bpa.gov/go/whistling.
    Comments were received from the following parties after the release 
of the Final EIS:

     U.S. Environmental Protection Agency (EPA)
     Skamania County Noxious Weed Control Board
     Confederated Tribes and Bands of the Yakama Nation (Yakama 
Nation)
     Seattle Audubon
     Friends of the Columbia Gorge (Friends)

    \EPA's letter stated that the Final EIS was responsive to and 
addressed the comments that they had submitted on the Draft EIS. The 
EPA expressed appreciation for additional clarifying environmental 
resource information provided in the Final EIS, other EIS changes in 
response to public comments, and BPA's commitment to continue to work 
with Tribes, state agencies, and other Federal agencies. BPA 
appreciates the EPA's feedback in these areas.
    The Skamania County Noxious Weed Control Board sent an email to BPA 
that provided updated contact information and a corrected Web site 
link. BPA has revised its contact list for the Project to include the 
updated contact information, and acknowledges that the correct Board 
Web site link is http://www.skamaniacounty.org/noxious-weeds/.
    The Yakama Nation's letter raised three main issues. BPA responded 
to these issues in an October 2011 letter to the Yakama Nation; the 
following summarizes the issues raised and BPA's responses. First, the 
Yakama Nation raised concerns about potential impacts to an 
archaeological object found in May 2011 on Chemawa Hill within the Wind 
Project site that was not identified in the Final EIS. Although not 
specifically identified in the Final EIS, the Final EIS addressed the 
cultural significance of Chemawa Hill and BPA acknowledges and respects 
that cultural significance. Additionally, the State of Washington's 
approval of the Wind Project did not approve the turbine strings that 
would have been located on Chemawa Hill, thereby eliminating the 
potential for impacts to any cultural resources at Chemawa Hill. 
Furthermore, WRE has committed to continued collaboration with the 
Yakama Nation regarding construction activities in potential culturally 
sensitive areas.
    Second, the Yakama Nation's letter reminded BPA of a tribal 
resolution specifying that only the Yakama Nation Cultural Resource 
Program is authorized to represent the Yakama Nation in discussions 
concerning placement of Wind Project turbines in culturally sensitive 
areas. BPA acknowledges and respects this tribal resolution. 
Accordingly, although BPA is not involved in the turbine siting, in 
carrying out its interconnection actions, BPA has and will continue to 
consult with the Yakama Nation Cultural Resource Program as the 
designated representative for the Tribe with respect to the Project.
    Third, the Yakama Nation's letter stated views on the scope of 
BPA's review under NEPA and the National Historic Preservation Act 
(NHPA) for the Project. While BPA respects the Yakama Nation's views, 
BPA believes the Final EIS properly identifies the scope of BPA's 
action for the Whistling Ridge Energy Project and that BPA has 
appropriately considered its action under NEPA and the NHPA, as well as 
its federal trust responsibilities. BPA also notes that it fully 
participated in the preparation of the joint NEPA/SEPA EIS that 
included analysis of the environmental impacts of the entire

[[Page 41025]]

Project. Accordingly, in making a decision to allow interconnection of 
the Wind Project to the FCRTS, BPA considered all of the environmental 
information about the Project that is contained in the Final EIS.
    The letter from the Seattle Audubon on behalf of itself and other 
groups requested that BPA and the U.S. Fish and Wildlife Service (FWS) 
reinitiate Section 7 consultation under the Endangered Species Act 
(ESA) for the Project. In its letter, Seattle Audubon stated that 
reinitiation of consultation was needed because conclusions made by the 
FWS in its July 2010 concurrence letter about the Project's effect on 
northern spotted owl (NSO) appeared to be based on inaccurate 
information, the FWS failed to evaluate key NSO information, and the 
FWS's June 2011 Revised Recovery Plan for the NSO needed to be 
evaluated.
    BPA responded in a November 2011 letter in which BPA explained the 
standards for reinitiating consultation and found that any 
misstatements or possible omissions were not substantial enough to 
justify reinitiation of consultation, and that it was unlikely that 
further consideration of any corrections or omissions would change the 
outcome of the FWS's final determination. In a December 2011 letter, 
the FWS also responded to Seattle Audubon by agreeing with BPA and 
concluding that, based on a review of the additional information 
provided by Seattle Audubon as well as the Revised Recovery Plan, they 
were not recommending reinitiation of Section 7 consultation for the 
Project. In February 2012, the FWS sent BPA a letter under Section 
7(a)(2) of the ESA to review and address potentially inaccurate 
information and possible omissions that had been identified. The FWS 
concluded its letter by reaffirming the determination made in its July 
2010 concurrence letter that the Project is not likely to adversely 
affect the NSO. Additional information concerning Section 7 
consultation and coordination activities for the Project after issuance 
of the Final EIS is provided in the Supplemental Analysis that has been 
prepared for the EIS.
    Finally, BPA received several letters from Friends after issuance 
of the Final EIS that raised a variety of issues about BPA's proposed 
interconnection of the Wind Project and the EIS. To begin with, Friends 
urged BPA to deny WRE's interconnection request because Friends 
believes WRE has not sufficiently defined the details of the Wind 
Project, as approved by the State of Washington, and thus has not 
satisfied the BPA's information requirements for interconnections. BPA 
notes that it considers the information it received from WRE as part of 
the initial interconnection request by WRE as sufficient and at an 
appropriate level of detail to assess the impacts of the 
interconnection and complete the study phase of the interconnection 
process. In addition, the decision by the State of Washington to not 
approve certain turbines strings did not materially alter the 
sufficiency of this information for the purposes of interconnection 
studies, given that the Wind Project's maximum total installed capacity 
did not change, and neither did the plan of service for interconnecting 
the Wind Project to the FCRTS. The information requirements cited by 
Friends describe typical information that BPA requires, to the extent 
that it is applicable and necessary, at various points in the 
interconnection process. Consistent with BPA's normal process, BPA will 
obtain the more detailed technical information about Wind Project 
components relevant to its interconnection requirements as it refines 
the technical design for the BPA interconnection facilities, but it is 
fully expected that these refinements will not alter the basic plan of 
service that has already been developed. Accordingly, BPA has 
sufficient certainty about the Wind Project and its details to grant 
WRE's interconnection request.
    Friends also urged BPA to not act on WRE's interconnection request 
until BPA updates a 2008 system impact study with Wind Project details 
and changes in system conditions since the study was completed. To 
clarify, BPA performed the 2008 system impact study in response to 
requests for transmission service, not a request for interconnection. 
Transmission service requests are handled separately and independently 
from interconnection requests such as the one being granted as a result 
of this ROD. Moreover, the 2008 system impact study was performed for 
transmission service requests that were effectively withdrawn from 
consideration soon after the 2008 study was completed. When WRE submits 
a transmission service request, BPA will conduct a new system impact 
study specific to whatever that request entails. The results of that 
study are not necessary for making a decision concerning the requested 
interconnection, and BPA believes it has a sufficient understanding at 
this time of potential system impacts from interconnecting the Wind 
Project. In addition, in recent years BPA has built new transmission 
facilities and made other infrastructure improvements that have helped 
address previously identified transmission constraints in this portion 
of BPA's transmission system.
    Friends also believes that BPA should not act on WRE's 
interconnection request until WRE signs the Final SCA for the Wind 
Project that the Washington Governor has already signed, to ensure 
acceptance of the Final SCA's term and conditions by WRE. BPA notes 
that WRE signed the Final SCA in November 2013. Accordingly, the terms 
and conditions in the Final SCA, including those that serve as 
environmental mitigation measures, are fully binding on WRE.
    A final grounds urged by Friends for denying WRE's interconnection 
request is that the Wind Project, as approved by the State of 
Washington, is not economically viable based on statements from WRE 
during the state's siting review process. BPA contacted WRE about this 
issue, and WRE recently provided BPA with a letter addressing it. In 
its letter, WRE affirms that the Wind Project continues to be an 
economically viable project for a variety of reasons. The letter points 
to Oregon and Washington state requirements for increasing use of 
renewable energy resources in utility portfolios in coming years, other 
state as well as federal proposals that likely would result in 
increased pressure to shift from fossil fuel energy sources to 
renewable energy, and the potential for increased demand from 
California for renewable energy. The letter notes that demand for 
renewables occurs in periodic waves, and these factors are expected to 
significantly increase renewable demand in coming years. WRE also 
attached a 2012 Declaration in Washington state court made by Jason 
Spadaro, President of WRE, that further elaborates on the reasons why 
the Wind Project is economically viable and affirms that WRE is 
committed to the Wind Project. This information from WRE sufficiently 
addresses the economic viability issue raised by Friends.
    Regarding the EIS for the Project, Friends asserted in its letters 
that BPA should prepare a supplemental EIS for a variety of reasons. To 
begin with, Friends stated a supplemental EIS is necessary to address 
the limitation on the maximum number of wind turbines resulting from 
the State of Washington's approval of the Wind Project. As previously 
discussed in this Record of Decision, BPA reviewed this limitation 
through the Supplement Analysis it has prepared. In the Supplement 
Analysis, BPA determined that the turbine limitation did not constitute 
a

[[Page 41026]]

``substantial change'' in the Proposed Action within the meaning of 
NEPA, and that preparation of a supplemental EIS therefore was not 
required.
    Another reason to supplement the EIS stated by Friends is that 
Friends believes the State of Washington's approval requires BPA to 
reexamine its need for action identified in the Final EIS, as well as 
the identified BPA purposes. As discussed in the EIS, BPA's need for 
action is a need to decide whether or not to grant the requested 
interconnection of the Wind Project to the FCRTS. This need has not 
changed. Furthermore, the identified BPA purposes remain the same for 
the state-approved Wind Project. These purposes are considered in 
detail below in the ``BPA's Rationale for Decision'' section of this 
Record of Decision.
    Another reason stated by Friends is that increases in regional wind 
energy since the Final EIS was completed have affected BPA's need for 
action identified in the Final EIS, as well as the identified BPA 
purposes. As with the State of Washington's decision to limit the 
maximum number of turbines, the increase in regional wind energy has 
not changed the BPA need for action or its identified purposes. 
Consideration of the purposes in light of increased regional wind 
energy is provided in the ``BPA's Rationale for Decision'' section of 
this Record of Decision.
    Another reason stated by Friends is that the summary in the Final 
EIS of the Applicant-identified needs for the Wind Project requires 
reevaluation for several reasons. To clarify, these Applicant-
identified needs are not BPA's need. Nonetheless, the description of 
regional renewable energy needs--and more importantly for BPA's 
decision, project transmission needs--remains reasonably accurate today 
and helps provide useful context for why WRE has proposed its Wind 
Project. This includes the description of the Northwest Power and 
Conservation Council's draft Sixth Northwest Power Plan (Power Plan), 
which was subsequently finalized. BPA has reviewed the final Power Plan 
and finds that portions of the draft Power Plan that are summarized in 
the Final EIS remained substantially similar in the final version of 
the Power Plan.
    Another reason stated by Friends is that BPA and EFSEC need to 
review several aspects of the Project under NEPA and SEPA that Friends 
believes are unresolved or undecided. Friends states that these aspects 
include technical details, mitigation measures, and construction and 
operational plans that are yet to be resolved and approved. Current 
information about the Project is sufficient to analyze its 
environmental impacts and meet the requirements of NEPA. If there is a 
change in the Project or its potential impacts at some point in the 
future as a result of further Project refinement, BPA would conduct 
appropriate additional NEPA review at that time depending on the nature 
and scope of any change.
    Another reason stated by Friends is that the Final EIS failed to 
adequately evaluate wildlife impacts in the areas of quantification of 
bird and bat mortality from blade strikes, evaluation of the relative 
abundance of sensitive-status species, inclusion of critical info on 
impacts to bats, and disclosure of mitigation measures for wildlife 
impacts. The Final EIS provides sufficient consideration and analyses 
of these areas to meet the requirements of NEPA.
    Another reason stated by Friends is that the EIS should address the 
FWS's June 2011 Revised Recovery Plan for the NSO. As discussed above, 
BPA and the FWS have determined that reinitiation of Section 7(2)(a) 
consultation is not needed as a result of the Revised Recovery Plan. In 
addition, BPA has reviewed the Revised Recovery Plan, and any 
additional information concerning NSO provided by the Plan does not 
alter the conclusions made in the final EIS about potential impacts to 
NSO. Correspondingly, no additional analysis concerning the Revised 
Recovery Plan is needed in the EIS.
    Another reason stated by Friends is that additional EIS analysis of 
impacts to bald and golden eagles is needed to comply with the FWS's 
``Land-Based Wind Energy Guidelines'' issued in 2012 and ``Eagle 
Conservation Plan Guidance'' issued in 2013, both of which have been 
reviewed by BPA. The surveys that were conducted for the Wind Project 
generally comport with the FWS guidance in these documents and, 
regardless, are sufficient for the purposes of NEPA analysis. 
Furthermore, BPA notes that both of these documents are intended to be 
guidelines to be followed only voluntarily; in other words, they are 
not required or mandatory. Just as importantly, both of these FWS 
documents provide that projects for which planning is already underway 
should comply with the recommendations going forward rather than 
conducting restudies to apply the guidance retroactively. Accordingly, 
additional EIS restudy is not required to address these two guidance 
documents.
    Another reason stated by Friends is that EIS review is needed of a 
2012 report entitled ``Synthesis of Wind Energy Development and 
Potential Impacts on Wildlife in the Pacific Northwest, Oregon and 
Washington'' by the U.S. Department of Agriculture (USDA). BPA has 
reviewed this report, and the analysis of wildlife impacts contained in 
the Final EIS remains sufficient under NEPA in light of the report. In 
addition, additional information provided by the report does not alter 
the conclusions made in the Final EIS about potential wildlife impacts. 
Thus, preparation of a supplemental EIS on the basis of the USDA report 
is not necessary.
    Another reason stated by Friends is that the Final EIS fails to 
consider the effects of noise impacts on wildlife. BPA notes first that 
the Final EIS does consider disturbance of wildlife by Project 
construction, including through changes to the noise environment. In 
addition, BPA has reviewed information sources cited by Friends 
concerning potential operational noise impacts to wildlife and has 
determined that this information does not significantly alter the 
conclusions made in the Final EIS concerning potential operation 
impacts to wildlife. As discussed in the Supplement Analysis that has 
been prepared, the project's operational noise would occur in a 
landscape of managed timber land that is, and will continue to be, 
fragmented with ongoing disturbance. Any operational noise impacts to 
wildlife thus would fall within the bandwidth of overall degradation of 
wildlife habitat already discussed in the Final EIS.
    Another reason stated by Friends is that EIS review is needed of a 
bibliography of noise impacts to wildlife that was published by the 
National Park Service in 2011. BPA has reviewed the sources included in 
this bibliography that are relevant to wind projects and has determined 
that the source reports do not alter the conclusions made in the Final 
EIS about potential wildlife impacts.
    Another reason stated by Friends is that EIS review is needed to 
address recent studies on the effects of noise from operating wind 
turbines on human health and the human environment. BPA has reviewed 
these studies and determined that the analysis of potential impacts to 
human health from wind turbine noise that is contained in the Final EIS 
remains sufficient under NEPA. The studies cited by Friends largely are 
consistent with the discussion of potential noise impacts to humans 
from wind turbine operations that is contained in Section 3.7.2 of the 
EIS, and do not alter the conclusions made in the Final EIS about these 
impacts. BPA also notes EFSEC's findings that construction and 
operation

[[Page 41027]]

of the Wind Project will comply with all applicable noise regulations 
in the State of Washington. Accordingly, a supplemental EIS is not 
needed to address these studies.
    Another reason stated by Friends is that the EIS needs to address 
information from EFSEC's Final Adjudicative Order and Recommendation 
Order concerning the significance of impacts to scenic resources from 
the Wind Project. EFSEC provided a letter in December 2011 to Friends 
that largely addressed this issue. EFSEC's letter explained that EFSEC 
did not perform or use any new analysis or data for scenic impacts from 
what was considered in the Final EIS. EFSEC further explained that it 
simply duplicated the review process utilized in the EIS in making its 
determination concerning the significance of viewscape change for the 
Wind Project from various viewing sites. In so doing, EFSEC emphasized 
that it did not find any serious flaws in the Final EIS's analysis of 
scenic impacts, did not discredit any conclusions made in the EIS about 
these impacts, and found nothing that would violate state law. 
Accordingly, while EFSEC members may have developed their own opinion 
on scenic impacts, they did not alter or undermine the analysis of 
scenic impacts contained in the Final EIS. BPA concurs with EFSEC's 
response and believes that the Final EIS does not need to be 
supplemented on the basis of this issue.
    Another reason stated by Friends is that the EIS understates the 
Project's likely scenic impacts. First, as Friends notes, the Final EIS 
acknowledges the scenic impacts of the Project. While Friends may 
disagree about the degree of those impacts, the Final EIS provides a 
reasonable analysis of potential scenic impacts and draws reasonable 
conclusions about their significance. Second, the denial by the State 
of Washington of turbine strings A-1 through A-7 and C-1 through C-8 
served to substantially reduce the overall scenic impact of the Wind 
Project from various viewing points in the Columbia River Gorge, 
include those within the Scenic Area. The denial of these turbines thus 
further mitigated scenic impacts to ensure that potential levels of 
visual impacts would not be higher than low to moderate at any of the 
viewpoints examined. As a result, the conclusions in the FEIS 
concerning the level of potential visual impacts at various viewpoints 
remains relatively accurate, and the Final EIS does not need to be 
supplemented on the basis of this issue.
    Another reason stated by Friends is that the EIS needs to address 
the May 2011 discovery of an archaeological object on Chemawa Hill. As 
is discussed above, the Final EIS adequately addresses the cultural 
significance of Chemawa Hill and impacts to cultural resources at this 
location are being avoided.
    Another reason stated by Friends is that the cumulative impacts 
analysis in the Final EIS is outdated and inadequate, because 
additional wind energy resources and other development have been 
completed or are proposed within the cumulative impact study area since 
the Final EIS was issued. BPA's Supplement Analysis discusses this 
additional development and concludes that it either has no cumulative 
impacts beyond those already described in the Final EIS or has resulted 
in only negligible increases in cumulative impacts within the scope of 
those already discussed in the Final EIS. For these reasons, a 
supplemental EIS to further consider cumulative impacts is not 
necessary.
    In its letters, Friends also states that it believes BPA must 
obtain permits under the Bald and Golden Eagle Protection Act (BGEPA) 
and the Migratory Bird Treaty Act (MBTA) in order to approve the 
interconnection. As discussed in the Final EIS, the Wind Project would 
not involve intentional acts in wanton disregard of bald or golden 
eagles under the BGEPA and would not be expected to result in a take or 
killing of migratory bird species within the meaning of the MBTA. 
Moreover, the Final SCA between the State of Washington and WRE makes 
WRE responsible for completing a plan to comply with requirements of 
these statutes. It is BPA's understanding that if a permit is required 
for the Wind Project under either statute, that will be the 
responsibility of WRE, as the owner and operator of the Wind Project, 
to obtain. Accordingly, it is not necessary for BPA to seek permits 
under the BGEPA and MBTA under these circumstances.
    In addition, Friends asks BPA to consider evaluating recent 
information concerning an enforcement action under the MBTA related to 
wind projects in Wyoming and deaths of golden eagles at the Wild Horse 
Wind Project in central Washington State. BPA has reviewed available 
information concerning the Wyoming wind project enforcement action, 
including the U.S. Department of Justice (DOJ) press release regarding 
the enforcement. The Final EIS sufficiently addresses and analyzes the 
potential for impacts to migratory birds and eagles in a manner 
consistent with the recommendations of the FWS and DOJ concerning pre-
construction evaluations. In addition, as discussed in the Final EIS 
and pursuant to the Final SCA, pre-construction raptor nest surveys 
will be conducted during the nesting season immediately prior to 
beginning site preparation, and a Technical Advisory Committee of 
agency professionals and other bird experts will be convened to assist 
with developing measures to ensure that risks to migratory birds and 
eagles are minimized as much as possible. Furthermore, as discussed 
above, the Final SCA requires that a golden eagle and bald eagle plan 
be completed before the Wind Project begins operations. The Final SCA 
also requires that this plan be completed in consultation with the FWS 
and WDFW, which BPA expects will ensure that these agencies are in 
agreement with the approach being taken. Accordingly, the information 
concerning the Wyoming enforcement action does not significantly change 
the analysis or conclusions concerning migratory birds and eagles in 
the Final EIS.
    BPA also has reviewed available information concerning the golden 
eagle deaths at the Wild Horse Wind Project. The analysis of potential 
impacts to golden eagles completed for the Whistling Ridge Energy 
Project Final EIS remains sufficiently accurate even in light of this 
information. Furthermore, the consultation that will occur with the FWS 
for the golden eagle and bald eagle plan for the Wind Project will 
ensure that all impacts to golden eagles are appropriately considered 
and addressed. As part of that consultation, it is expected that WRE 
and the FWS will coordinate as necessary concerning whether an eagle 
take permit is needed for the Wind Project.
    Finally, Friends has provided BPA with a petition from citizens 
opposed to the Wind Project. On behalf of these citizens, Friends' 
letter transmitting the petition urges BPA to deny the requested 
interconnection for a variety of reasons, largely similar to those 
expressed in other letters from Friends and addressed above. BPA 
respects the viewpoints and opinions expressed in the petition and 
understands that there are some who are opposed to the Wind Project 
given its location. BPA has included consideration of the petition in 
making its decision (see ``BPA's Rationale for Decision'' section 
below).

BPA'S Rationale for Decision

    In making its decision to implement its part of the Proposed 
Action, BPA has considered and balanced a variety of relevant factors. 
BPA considered how

[[Page 41028]]

well each alternative under consideration--the Proposed Action 
alternative and the No Action alternative--would fit with BPA's 
statutory missions and relevant policies and procedures. BPA also 
considered the environmental impacts described in the Final EIS. In 
addition, BPA considered new environmental information and other 
circumstances, including the State of Washington's denial of certain 
turbine strings, addressed in the Supplement Analysis. BPA also 
considered public comments received throughout the NEPA process for the 
Project, including those received on the Draft and Final EISs. Another 
consideration was the extent to which each alternative under 
consideration would meet the following BPA purposes (i.e., objectives) 
identified in the Final EIS:
     Maintain the electrical stability and reliability of the 
FCRTS;
     Continue to meet BPA's statutory and contractual 
obligations;
     Act consistently with BPA's environmental and social 
responsibilities; and
     Provide for cost and administrative efficiency.
    Finally, BPA took into consideration the State of Washington's 
siting authority and regulatory jurisdiction over the Wind Project, the 
information from the state's lengthy and extremely thorough siting 
process for the Wind Project, and the unanimous Washington Supreme 
Court decision upholding the Governor's approval of the Wind Project. 
The entire record of EFSEC's administrative proceedings for the Wind 
Project--including the EIS process and the adjudication--was certified 
to the Washington Supreme Court. BPA has considered that record in 
making its decision.
    After considering and balancing all of these factors, BPA has 
decided to grant the requested interconnection and offer an LGIA to 
WRE. Approving this interconnection is consistent with the policies 
embodied in BPA's transmission tariff, which is based on allowing open 
access to transmission and interconnection services on the FCRTS. BPA 
has adopted its tariff to be consistent with national policy 
promulgated by FERC that directs transmission providers to provide open 
access to their transmission systems. Because WRE has complied with the 
established tariff procedures for proposed interconnections, BPA 
believes it is appropriate under its tariff to grant WRE's 
interconnection request.
    Granting the requested interconnection will not interfere with or 
otherwise affect BPA's ability to maintain the stability and 
reliability of its transmission system. The physical interconnection of 
the Wind Project to the FCRTS will be designed and constructed to meet 
applicable reliability criteria and standards intended to maintain 
system stability, and the LGIA will include operating parameters and 
other provisions to ensure that operation of the Wind Project will not 
impair system reliability. Furthermore, BPA's implementation of its 
part of the Proposed Action will not interfere with BPA's ability to 
meet its statutory and contractual obligations. Although BPA has no 
express statutory or contractual obligation to construct the new 
substation that will be built for this interconnection, constructing 
the substation is consistent with BPA's statutory directive to make 
additions to the transmission system, as appropriate, in order to 
integrate and transmit electric power and maintain system stability and 
reliability.
    BPA has adopted measures to ensure that granting the requested 
interconnection will not contribute to issues caused by generation 
oversupply conditions on BPA's transmission system at certain times of 
the year. To address these issues, BPA developed an Oversupply 
Management Protocol (Protocol) as an amendment to its transmission 
tariff. This Protocol provides a set of policies and operational 
practices that allow for the management of oversupply events while 
complying with environmental responsibilities as well as satisfying 
statutory and contractual obligations and maintaining reliability and 
stability. These Protocol goals align with BPA's purposes identified in 
the Final EIS. The Protocol was approved by FERC late last year, which 
has provided certainty with respect to BPA's approach to the management 
of oversupply events. Because the Wind Project will be subject to the 
Protocol through its LGIA, the Wind Project will not exacerbate 
operational and reliability issues associated with future oversupply 
events that may occur.
    Granting the requested interconnection will serve to integrate a 
new renewable generating resource. This will be consistent with certain 
FERC interconnection policies intended to help facilitate the 
integration of new renewable resources, which in turn are consistent 
with the Obama Administration's policies and action plan to address 
climate change by increasing reliance on renewable resources to reduce 
greenhouse gas emissions.
    In planning and designing the Wind Project, it is clear that WRE 
attempted to minimize potential environmental impacts where possible. 
In addition, EFSEC and BPA have identified numerous mitigation measures 
in the Final EIS to further reduce, avoid, or compensate for Project 
impacts. These measures are also included as conditions in the Final 
SCA for the Wind Project that EFSEC has found will ensure that the 
Project will produce minimal adverse environmental impacts. 
Nonetheless, it is acknowledged that the Project will create a number 
of environmental impacts even with the implementation of mitigation. 
These impacts, which are fully disclosed in the Final EIS, primarily 
include disturbance of soils, conversion of habitat, direct mortality 
of birds, increases in noise and traffic in the vicinity, and--
characterized by EFSEC as the ``most hotly contested''--impacts to 
scenic resources.
    BPA understands the sensitivities of many individuals to these 
impacts, and recognizes that the prospect of these impacts has led 
certain individuals--as well as some groups such as Friends--to oppose 
the Wind Project. BPA also appreciates that the Columbia River Gorge is 
a special place to many people and is one of the landscapes that makes 
the Pacific Northwest great. However, with the extensive mitigation 
measures that have been identified and SCA conditions that have been 
imposed, BPA believes that the Project will be implemented in an 
environmentally responsible manner. In addition, in making a decision 
to grant the requested interconnection, BPA believes it has fully 
carried out its environmental responsibilities under NEPA, the ESA, and 
other applicable environmental laws.
    Concerning impacts to scenic resources, BPA recognizes that the 
State of Washington's decision to deny turbine strings A-1 through A-7 
and C-1 through C-8 served to mitigate the most significant visual 
impacts of the Wind Project. Accordingly, these impacts have been 
substantially reduced from those depicted in the visual simulations 
included in the Final EIS. BPA respects and appreciates the sentiments 
expressed by Governor Gregoire in her March 2012 approval letter 
concerning the evaluation of visual impacts that led to the state's 
decision to not approve the most visually prominent turbines associated 
with the Wind Project. BPA agrees that the Columbia River Gorge is a 
unique and beautiful landscape, and that proposed development within 
view of the Columbia River Gorge--even if

[[Page 41029]]

outside of the Scenic Area as is the case with the Wind Project--
warrants thoughtful and careful consideration of its potential to 
impact scenic resources. BPA believes that such consideration has been 
amply demonstrated in this case, and that definite and effective action 
has been taken by the State of Washington to reasonably help protect 
views as a result of this consideration. Furthermore, BPA agrees with 
the Governor that the state-approved Wind Project strikes an effective 
balance between minimizing visual impacts while still carrying out the 
public interest of the State of Washington in approving sites for 
alternative energy facilities.
    The total cost of the BPA interconnection facilities is estimated 
at $12.6 million. All costs associated with these facilities will be 
advance funded by WRE and administration of contracts with WRE will 
follow normal, established procedures. In accordance with BPA's open 
access transmission tariff, WRE will be eligible to receive 
transmission credits for any portion of the interconnection facilities 
that constitute network upgrades. BPA believes that this approach 
provides for both cost and administrative efficiencies.
    Finally, in deciding to grant the requested interconnection, BPA 
believes it is being appropriately respectful of state authorities 
concerning the siting of non-federal generation projects. As has been 
mentioned previously in this Record of Decision, BPA does not have 
siting authority or regulatory jurisdiction over these facilities. That 
is the purview of appropriate state and local entities, in this case 
Washington EFSEC and, ultimately, the Washington Governor. BPA notes 
that the siting process conducted by the State of Washington for the 
Wind Project was both lengthy and extremely thorough, and addressed 
many of the same environmental issues also considered in the Final EIS 
for the Project. BPA also notes that the State of Washington decided to 
approve construction and operation of the Wind Project on the basis of 
the siting process and Final EIS. Finally, BPA notes that this approval 
was upheld by the Washington Supreme Court in a legal challenge of the 
siting process brought against the State of Washington. In light of 
this, granting the requested interconnection provides the appropriate 
comity to the State of Washington's legally executed overall 
authorities concerning the siting of the Wind Project.

Mitigation

    All the mitigation measures described in the Draft EIS and updated 
in the Final EIS have been adopted. A complete list of these measures 
can be found in the Mitigation Action Plan. WRE will be responsible for 
executing mitigation measures identified for the Wind Project, while 
BPA will be responsible for executing the mitigation measures 
associated with the BPA interconnection facilities.
    In addition to identifying mitigation measures in the EIS, the 
State of Washington has included numerous conditions in the Final SCA 
for the Wind Project that are intended to ensure that the Wind Project 
is built and operated in a way that preserves and protects the quality 
of the environment. As environmental mitigation, Washington EFSEC has 
found that these conditions will ensure that the Project will produce 
minimal adverse environmental effects. WRE will be required to comply 
with these Final SCA conditions. As discussed above, the Final SCA is 
available at http://www.efsec.wa.gov/whistling%20ridge.shtml.

    Issued in Portland, Oregon.

    Dated: June 24, 2015.
Elliot E. Mainzer,
Administrator and Chief Executive Officer.
[FR Doc. 2015-17087 Filed 7-13-15; 8:45 am]
 BILLING CODE 6450-01-P



                                                                                    Federal Register / Vol. 80, No. 134 / Tuesday, July 14, 2015 / Notices                                                         41019

                                                    opportunity to comment on proposed,                      DEPARTMENT OF ENERGY                                     additional copies of this document can
                                                    revised, and continuing collections of                                                                            be obtained from BPA’s Public
                                                    information. This helps the Department                   Bonneville Power Administration                          Information Center, P.O. Box 3621,
                                                    assess the impact of its information                                                                              Portland, Oregon, 97208–3621. Copies
                                                    collection requirements and minimize                     Record of Decision; Electrical                           of these documents may also be
                                                    the public’s reporting burden. It also                   Interconnection of the Whistling Ridge                   obtained by calling BPA’s nationwide
                                                    helps the public understand the                          Energy Project                                           toll-free request line at 1–800–622–
                                                    Department’s information collection                      AGENCY:  Bonneville Power                                4520, or by accessing BPA’s Project Web
                                                    requirements and provide the requested                   Administration (BPA), Department of                      site at www.bpa.gov/go/whistling.
                                                    data in the desired format. ED is                        Energy (DOE).                                            FOR FURTHER INFORMATION CONTACT:
                                                    soliciting comments on the proposed                      ACTION: Record of Decision (ROD).                        Amy Gardner, Transmission Project
                                                    information collection request (ICR) that                                                                         Manager, Bonneville Power
                                                    is described below. The Department of                    SUMMARY:    The Bonneville Power                         Administration—TEP–TPP–1, P.O. Box
                                                    Education is especially interested in                    Administration (BPA) has decided to                      61409, Vancouver, WA 98666–1409;
                                                    public comment addressing the                            implement its part of the Proposed                       toll-free telephone number 1–800–622–
                                                    following issues: (1) Is this collection                 Action identified in the Whistling Ridge                 4519; or email amgardner@bpa.gov or
                                                    necessary to the proper functions of the                 Energy Project Final Environmental                       Katey Grange, Environmental Protection
                                                    Department; (2) will this information be                 Impact Statement (EIS) (DOE/EIS–0419,                    Specialist, Bonneville Power
                                                    processed and used in a timely manner;                   August 2011). Under the Proposed                         Administration—KEC–4, P.O. Box 3621,
                                                    (3) is the estimate of burden accurate;                  Action, BPA will offer Whistling Ridge                   Portland, Oregon, 97208–3621; toll-free
                                                    (4) how might the Department enhance                     Energy LLC (WRE) contract terms for                      telephone number 1–800–622–4519; or
                                                    the quality, utility, and clarity of the                 interconnection of WRE’s planned                         email kcgrange@bpa.gov.
                                                    information to be collected; and (5) how                 Whistling Ridge Energy Project (Wind                     SUPPLEMENTARY INFORMATION:
                                                    might the Department minimize the                        Project) with the FCRTS. WRE’s Wind
                                                                                                                                                                      Background
                                                    burden of this collection on the                         Project will be an up to 75-megawatt
                                                    respondents, including through the use                   (MW) wind energy facility located in                     BPA and FCRTS Interconnection
                                                    of information technology. Please note                   Skamania County, Washington. WRE                         Requests
                                                    that written comments received in                        has received approval to construct and                      BPA is a federal agency that owns and
                                                    response to this notice will be                          operate the Wind Project from the                        operates the majority of the high-voltage
                                                    considered public records.                               Governor of the State of Washington,                     electric transmission system in the
                                                       Title of Collection: U.S. Department of               based on the recommendation of the                       Pacific Northwest. This system is
                                                    Education Pre-Authorized Debit                           Washington Energy Facility Site                          known as the FCRTS. BPA has adopted
                                                    Account Brochure and Application.                        Evaluation Council (EFSEC), which is                     an Open Access Transmission Tariff
                                                                                                             the siting authority for the Wind Project.               (tariff) for transmission and
                                                       OMB Control Number: 1845–0025.                           To allow the interconnection of
                                                       Type of Review: An extension of an                                                                             interconnection services on the FCRTS,
                                                                                                             WRE’s Wind Project to the FCRTS, BPA                     generally consistent with the Federal
                                                    existing information collection.                         will construct and operate a new 230-                    Energy Regulatory Commission’s (FERC)
                                                       Respondents/Affected Public:                          kilovolt (kV) substation and associated                  pro forma open access tariff.2
                                                    Individuals or Households.                               facilities that will connect the Wind                       BPA’s tariff establishes processes for
                                                       Total Estimated Number of Annual                      Project to BPA’s existing North                          accepting requests to interconnect to the
                                                    Responses: 1,600.                                        Bonneville-Midway 230-kV                                 FCRTS, conducting interconnection
                                                                                                             transmission line, which passes through                  studies and environmental reviews for
                                                       Total Estimated Number of Annual
                                                                                                             the southern portion of the Wind Project                 these requests, and offering LGIAs on a
                                                    Burden Hours: 133.
                                                                                                             site.1 These interconnection facilities                  first-come, first served basis in response
                                                       Abstract: The Preauthorized Debit                     will be located entirely within the
                                                    Account Brochure and Application                                                                                  to the requests. For all requests for
                                                                                                             boundaries of the Wind Project site.                     interconnection of generating facilities
                                                    (PDA Application) serves as the means                    BPA also will execute a Large
                                                    by which an individual with a defaulted                                                                           that exceed 20 MW, BPA has adopted
                                                                                                             Generation Interconnection Agreement                     processes that are generally consistent
                                                    federal education debt (student loan or                  (LGIA) with WRE to provide
                                                    grant overpayment) that is held by the                                                                            with FERC’s Order No. 2003,
                                                                                                             interconnection services for the Wind                    Standardization of Large Generator
                                                    U.S. Department of Education (ED)                        Project.
                                                    requests and authorizes the automatic                                                                             Interconnection Agreement and
                                                                                                             ADDRESSES: This Record of Decision                       Procedures, and Order No. 661,
                                                    debiting of payments toward satisfaction                 will be available to all interested parties
                                                    of the debt from the borrower’s checking                                                                          Interconnection for Wind Energy.
                                                                                                             and affected persons and agencies and                    Orders No. 2003 and 661 provide a
                                                    or savings account. The PDA                              is being sent to all stakeholders who
                                                    Application explains the automatic                                                                                uniform process and agreement for
                                                                                                             requested a copy. Copies of the                          studying and offering interconnection to
                                                    debiting process and collects the                        Whistling Ridge Energy Project Draft
                                                    individual’s authorization for the                                                                                wind generating facilities exceeding 20
                                                                                                             and Final EISs, the Supplement                           MW. In its Order No. 2003 compliance
                                                    automatic debiting and the bank                          Analysis that has been prepared, and
                                                    account information needed by ED to                                                                               filing, BPA included provisions in its
                                                                                                                                                                      Large Generator Interconnection
asabaliauskas on DSK5VPTVN1PROD with NOTICES




                                                    debit the individual’s account.                            1 This Record of Decision generally uses the term
                                                                                                                                                                      Procedures (LGIP) that reflect BPA’s
                                                      Dated: July 8, 2015.                                   ‘‘Wind Project’’ to refer to all aspects of WRE’s
                                                                                                             proposal except for the BPA interconnection              obligation to complete environmental
                                                    Stephanie Valentine,                                     facilities, and uses the term ‘‘Project’’ in referring
                                                    Acting Director, Information Collection                  to both the Wind Project and the BPA                       2 Although BPA is not subject to FERC’s

                                                    Clearance Division, Office of the Chief Privacy          interconnection facilities. In this Record of            jurisdiction, BPA follows the open access tariff as
                                                    Officer, Office of Management.                           Decision, ‘‘Interconnection facilities’’ may include     a matter of national policy. This course of action
                                                                                                             any network upgrades or transmission provider            ensures that BPA will receive reciprocal and non-
                                                    [FR Doc. 2015–17157 Filed 7–13–15; 8:45 am]              interconnection facilities that are necessary to         discriminatory access to the transmission systems
                                                    BILLING CODE 4000–01–P                                   support the interconnection of the Wind Project.         of utilities that are subject to FERC’s jurisdiction.



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                                                    41020                           Federal Register / Vol. 80, No. 134 / Tuesday, July 14, 2015 / Notices

                                                    review under the National                                   To meet respective obligations under               the Project in August 2011. The Final
                                                    Environmental Policy Act (NEPA) of a                     the State Environmental Policy Act                    EIS responded to all comments received
                                                    proposed large generation                                (SEPA) and NEPA, Washington EFSEC                     on the Draft EIS and made necessary
                                                    interconnection before deciding                          and BPA decided to conduct a joint                    corrections and revisions to the EIS text.
                                                    whether to offer a LGIA to the party                     environmental review and prepare a                    As with the Draft EIS, BPA distributed
                                                    requesting interconnection.                              joint EIS under SEPA and NEPA for the                 the Final EIS to individuals,
                                                      Although BPA accepts requests for                      Wind Project and proposed                             organizations, and agencies who had
                                                    interconnection of proposed and                          interconnection. BPA formally initiated               previously requested it, posted it at the
                                                    existing generating facilities to the                    the NEPA EIS process by publishing a                  BPA project Web site, and sent out
                                                    FCRTS, BPA does not have siting                          Notice of Intent to prepare an EIS in the             letters announcing its availability to
                                                    authority or regulatory jurisdiction over                Federal Register (74 FR 18213) in April               potentially interested parties. A Notice
                                                    these facilities. That is the purview of                 2009. The Notice of Intent described the              of Availability of the Final EIS also was
                                                    appropriate state and local entities, and                proposal and the respective roles of                  published in the Federal Register (76
                                                    BPA acknowledges and respects the                        Washington EFSEC and BPA, and                         FR 54767) on September 2, 2011.
                                                    authority and jurisdiction of these                      explained the environmental process
                                                    entities on generation facility siting                                                                         EFSEC’s Adjudicative Proceeding
                                                                                                             and how to submit scoping comments
                                                    matters.                                                 for the Draft EIS. At the same time, BPA                 Concurrent with preparation of the
                                                    WRE’s Application and EIS Process                        also sent a letter that also provided this            EIS for the Project, EFSEC also held an
                                                                                                             information to approximately 250                      adjudicative proceeding for WRE’s
                                                       In 2009, WRE 3 submitted an                           individuals. During the EIS scoping                   application under Chapter 34.05 of the
                                                    Application for Site Certification to                    period, BPA and EFSEC jointly                         Revised Code of Washington (RCW) as
                                                    Washington EFSEC to construct and                        conducted two public informational and                part of its siting review process for the
                                                    operate the Whistling Ridge Energy                                                                             Wind Project. EFSEC’s adjudicatory
                                                                                                             EIS scoping meetings in Stevenson,
                                                    Project in Skamania County,                                                                                    proceedings are a formal hearing
                                                                                                             Washington, and Underwood,
                                                    Washington. EFSEC is a Washington                                                                              process similar to a courtroom
                                                                                                             Washington. BPA also established a
                                                    state agency that was created to provide                                                                       proceeding, in which the applicant and
                                                                                                             Web site (www.bpa.gov/go/whistling)
                                                    a ‘‘one-stop’’ state licensing agency for                                                                      opponents are allowed the opportunity
                                                                                                             with information about the project and
                                                    certain energy facilities in Washington.                                                                       to present information to support their
                                                                                                             the EIS process. Comments received
                                                    As such, EFSEC has siting authority                                                                            cases concerning the applicant’s
                                                                                                             during scoping are described in more
                                                    over these energy facilities, and parties                                                                      proposed project.
                                                                                                             detail in Chapter 1 of the Final EIS and
                                                    proposing to construct and operate any                                                                            As an initial step, EFSEC held a land
                                                                                                             in the EIS Scoping Report (August 2009)
                                                    such facility must apply to EFSEC for                                                                          use hearing for the Wind Project in May
                                                    siting review. In addition, energy                       prepared by EFSEC in consultation with
                                                                                                             BPA.5                                                 2009. This hearing was held to
                                                    facilities that exclusively use alternative
                                                                                                                In May 2010, BPA and EFSEC issued                  determine whether the Wind Project
                                                    energy resources (such as wind, solar,
                                                                                                             the Draft EIS for public review and                   was consistent with applicable local and
                                                    geothermal, landfill gas, wave or tidal
                                                                                                             comment. In addition to distributing the              regional land use plans and zoning
                                                    action, or biomass energy) can ‘‘opt-in’’
                                                                                                             Draft EIS to individuals, organizations,              ordinances. In addition to taking
                                                    to the EFSEC review and certification
                                                                                                             and agencies who had previously                       evidence at this hearing, 16 witnesses
                                                    process. In the case of the Wind Project,
                                                                                                             requested it, BPA posted the Draft EIS                testified at the hearing concerning the
                                                    WRE elected to opt in to the EFSEC
                                                                                                             at the BPA project Web site and sent                  Wind Project. EFSEC also received
                                                    process through submittal of its
                                                                                                             letters announcing its availability to                almost 400 comment letters and
                                                    application.4 WRE’s application
                                                                                                             potentially interested parties. A Notice              evidentiary submissions regarding land
                                                    identified a proposed wind energy
                                                                                                             of Availability of the Draft EIS also was             use consistency.
                                                    facility consisting of up to 50 wind
                                                                                                             published in the Federal Register (75                    EFSEC then conducted its
                                                    turbines that could each range in size
                                                                                                             FR 30023) on May 28, 2010. BPA and                    adjudicative proceeding for the Wind
                                                    from 1.2 to 2.5 MW, with a total
                                                                                                             EFSEC initially established a 45-day                  Project. After issuing a notice of intent
                                                    installed capacity of up to
                                                                                                             review and comment period for the                     to hold the proceeding, several
                                                    approximately 75 MW. The proposal
                                                                                                             Draft EIS, but later extended the                     prehearing conferences were held
                                                    also included an Operations and
                                                                                                             comment period for an additional 39                   between July 2009 and December 2010.
                                                    Maintenance (O&M) facility, an
                                                                                                             days (for a total 84-day Draft EIS                    The formal adjudicative hearing was
                                                    electrical collector substation,
                                                                                                             comment period) based on public                       then held over several days in January
                                                    underground collector lines and
                                                                                                             requests. During the Draft EIS comment                2011. In addition to receiving testimony
                                                    systems, and other ancillary facilities.
                                                                                                             period, BPA and EFSEC held two public                 from 17 parties and 65 witnesses on the
                                                       In addition to applying to EFSEC for
                                                                                                             meetings in Stevenson and Underwood,                  adjudication hearing record, EFSEC also
                                                    siting of its Wind Project, WRE
                                                                                                             Washington to help explain the Draft                  received almost 400 written
                                                    submitted a request to BPA to
                                                                                                             EIS and to accept public comments.                    submissions regarding the adjudication.
                                                    interconnect the Wind Project to the
                                                                                                                BPA and EFSEC received a total of                     In October 2011, Washington EFSEC
                                                    FCRTS. BPA processed the request
                                                                                                             608 comment letters on the Draft EIS.                 issued its Final Adjudicative Order for
                                                    under its LGIP, including conducting
                                                                                                             From these letters and the two Draft EIS              the Wind Project that presented its
                                                    interconnection studies and
                                                                                                             public meetings, BPA and EFSEC                        conclusions and findings concerning
asabaliauskas on DSK5VPTVN1PROD with NOTICES




                                                    environmental review of the proposed
                                                                                                             identified approximately 2,100                        both the land use hearing and the
                                                    interconnection.
                                                                                                             individual comments. After careful                    adjudicative proceeding.6 Regarding
                                                       3 WRE is a limited liability company created by
                                                                                                             consideration of all of these comments,               land use consistency, EFSEC noted that
                                                    SDS Lumber Company.                                      BPA and EFSEC issued the Final EIS for                the Wind Project site is located in an
                                                       4 More information about Washington EFSEC’s

                                                    siting review process for the Whistling Ridge             5 The EIS Scoping Report is available at the           6 EFSEC’s Final Adjudicative Order for the Wind

                                                    Energy Project is available at the EFSEC Web site        Washington EFSEC Web site at: http://                 Project is available at: http://www.efsec.wa.gov/
                                                    at: http://www.efsec.wa.gov/                             www.efsec.wa.gov/Whistling%20Ridge/SEPA/              Whistling%20Ridge/Adjudication/Orders/
                                                    whistling%20ridge.shtml.                                 WR%20Environmental.shtml.                             WR%20Adj%20Order%20868%2010-7-2011.pdf.



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                                                                                    Federal Register / Vol. 80, No. 134 / Tuesday, July 14, 2015 / Notices                                                    41021

                                                    area within Skamania County that is                      mitigation measures and monitoring, the                  Legal Challenge to the Governor’s
                                                    designated as ‘‘Conservancy’’ by the                     project should go forward. Finally, the                  Approval
                                                    County’s Comprehensive Plan and that                     Final Adjudicative Order addressed                          In April 2012, two environmental
                                                    is unmapped under the County’s Zoning                    several other issues with the Wind                       groups—Friends of the Columbia Gorge
                                                    Ordinance. After considering several                     Project, such as noise issues, geological                and Save Our Scenic Area (collectively
                                                    factors, EFSEC determined that the                       challenges, access road issues, cultural                 Friends)—filed a petition in Washington
                                                    Wind Project is consistent with the                      and archeological concerns, health and                   state court for judicial review of the
                                                    Conservancy designation in the                           safety planning, and site restoration                    Governor’s approval and execution of
                                                    Comprehensive Plan, and that the Wind                    planning. Based on its evaluation and                    the SCA for the Whistling Ridge Energy
                                                    Project is compliant with current zoning                 balancing of all of these considerations,                Project. Friends had participated in
                                                    in the unmapped zone because wind                        EFSEC concluded that the Wind Project                    EFSEC’s adjudicatory proceedings and
                                                    generation has not been found to be a                    should be approved as proposed with                      had submitted comments during the EIS
                                                    nuisance by a court.                                     the exception of turbine strings A–1                     process for the Wind Project. During
                                                       Regarding the adjudicative                            through A–7 and C–1 through C–8,                         both processes, Friends raised various
                                                    proceeding, EFSEC found that need                        which should be denied.                                  concerns about the Wind Project and
                                                    existed for the Wind Project, especially                                                                          urged that approval of the Project be
                                                    considering RCW 80.50.010’s                              EFSEC’s Recommendation and the
                                                                                                             Governor’s Approval                                      denied.
                                                    recognition of the ‘‘pressing need for                                                                               In its petition for judicial review,
                                                    increased energy facilities’’ and                           In January 2012, Washington EFSEC                     Friends primarily challenged the SCA
                                                    legislation that required sustainable                    transmitted its Recommendation Order                     and whether it, and the process leading
                                                    energy to account for 15 percent of the                  for the Wind Project and associated                      up to it, complied with various statutory
                                                    State’s energy supply by 2020. See RCW                   relevant materials to the Washington                     and regulatory requirements. Friends
                                                    19.285.010. EFSEC then turned to the                     State Governor.7 Consistent with the                     sought invalidation of the SCA and
                                                    issue of whether the Wind Project                        Final Adjudicative Order, the                            remand to EFSEC for further study and
                                                    would create a net benefit after                         Recommendation Order recommended                         evaluation of the Wind Project. As
                                                    considering its impacts. EFSEC found                     that the Governor approve all aspects of                 provided for under RCW 80.50.140,
                                                    that the ‘‘most hotly contested’’ impact                 the Wind Project except for turbine                      Friends’ petition was certified for
                                                    was on the aesthetic and cultural                        strings A–1 through A–7 and C–1                          review directly to the Washington
                                                    heritage of the area, largely due to the                 through C–8, which it recommended                        Supreme Court.
                                                    visibility of some of the Wind Project’s                 denying. The Recommendation Order                           In August 2013, the Washington
                                                    proposed wind turbines from the                          also identified suggested conditions to                  Supreme Court issued its opinion in the
                                                    Columbia River Gorge National Scenic                     be imposed if the Governor were to                       Friends’ legal challenge to the Wind
                                                    Area (Scenic Area) as well as other                      approve the Wind Project. A draft Site                   Project.9 After reviewing all of Friend’s
                                                    portions of the Columbia River Gorge.                    Certificate Agreement (SCA) was                          legal claims, the Court found no basis to
                                                    EFSEC noted that while the Wind                                                                                   reverse EFSEC’s recommendation or the
                                                                                                             provided with the Recommendation
                                                    Project is not the first development to                                                                           Governor’s approval of the Wind
                                                                                                             Order that limited the total maximum
                                                    occur in the area, as transmission lines,                                                                         Project. The Court first found that
                                                                                                             number of allowed Wind Project
                                                    hydroelectric dams, highways, rail lines,                                                                         WRE’s Application for Site Certification
                                                                                                             turbines to up to 35 turbines (thereby
                                                    and industrial, commercial, and                                                                                   satisfied the requirements of the
                                                                                                             reflecting the denial of turbine strings
                                                    residential development already exist, it                                                                         Washington Administrative Code
                                                                                                             A–1 through A–7 and C–1 through C–
                                                    nonetheless desires to preserve the                                                                               (WAC) regarding application
                                                                                                             8) and that included the suggested
                                                    views within the Columbia River Gorge                                                                             procedures, more particularly in the
                                                                                                             conditions of approval. However,
                                                    as much as possible. EFSEC also noted                                                                             areas of assessing nighttime avian
                                                                                                             neither the Recommendation Order nor
                                                    that while most of the Wind Project’s                                                                             collisions, considering wind power
                                                    turbines would be only partially visible                 the draft SCA limited the total installed
                                                                                                             capacity (up to 75 MW) of the Wind                       guidelines issued by the Washington
                                                    from only a few viewing locations, two                                                                            Department of Fish and Wildlife, and
                                                    ‘‘strings’’ of turbines—string A–1                       Project.
                                                                                                                In March 2012, the Governor of                        identifying proposed mitigation
                                                    through A–7 and string C–1 through C–
                                                                                                             Washington approved the Whistling                        measures. Next, the Court found that
                                                    8—would be prominently visible from
                                                                                                             Ridge Energy Project as recommended                      EFSEC had complied with the WAC’s
                                                    certain locations within the Columbia
                                                                                                             by EFSEC in its Recommendation Order.                    fish and wildlife requirements. More
                                                    River Gorge. Based on these concerns,
                                                                                                             The Governor also executed the Final                     specifically, the Court found that EFSEC
                                                    EFSEC concluded that these two turbine
                                                                                                             SCA at that time. In her approval letter                 had not violated the WAC’s ‘‘no net
                                                    strings should not be approved.
                                                       EFSEC’s Final Adjudicative Order                      to EFSEC, the Governor explained her                     loss’’ requirement for wildlife habitat
                                                    also addressed concerns regarding the                    agreement with EFSEC concerning the                      and had properly considered the results
                                                    Wind Project’s impact on wildlife and                    denial of the two turbine strings that                   of wildlife surveys in determining that
                                                    wildlife habitat. It recognized that                     would be prominently visible from                        WAC requirements were met.
                                                    although there was significant wildlife                  certain locations within the Columbia                       The Court then proceeded to reject
                                                    habitat in the general area, the Project                 River Gorge and the balancing of visual                  Friends’ remaining claims by finding no
                                                    site is a managed commercial/industrial                  impacts with the public interest in                      fault in how EFSEC had addressed a
                                                    timber operation and is not pristine                     approving sites for alternative energy                   proposed mitigation parcel; mitigated
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                                                    natural land. The Washington                             facilities. 8                                            for aesthetic, heritage, and recreational
                                                    Department of Fish and Wildlife                                                                                   impacts; made a determination of
                                                    (WDFW) acknowledged that with                               7 The Recommendation Order (EFSEC Order No.
                                                                                                                                                                      consistency with Skamania County’s
                                                    appropriate mitigation measures, the                     869) and associated recommendation materials are         zoning code; resolved Washington State
                                                    Project would comply with its                            available at the EFSEC Web site at: http://
                                                                                                             www.efsec.wa.gov/whistling%20ridge.shtml.                  9 The Washington Supreme Court’s opinion is
                                                    guidelines. After considering various                       8 The Final SCA and the Governor’s approval           available at: http://www.efsec.wa.gov/
                                                    arguments and evidence, EFSEC                            letter are also available at: http://www.efsec.wa.gov/   Whistling%20Ridge/Appeal/88089-
                                                    determined that with appropriate                         whistling%20ridge.shtml.                                 1%20opinion.pdf.



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                                                    41022                           Federal Register / Vol. 80, No. 134 / Tuesday, July 14, 2015 / Notices

                                                    Forest Practices Act compliance                          Wind Turbines                                         originally proposed. By authorizing up
                                                    requirements; or treated Forest Practices                   Up to 35 wind turbines, each ranging               to 35 turbines, the SCA reflects this
                                                    Act compliance requirements in the                       from 1.2 to 2.5 MW in generating                      denial of these two turbine strings. In all
                                                    SCA.                                                     capacity, will be installed in ‘‘strings’’            other respects, including the maximum
                                                      As a result, the Washington Supreme                    generally along ridgelines within the                 total installed capacity (up to 75 MW),
                                                    Court affirmed EFSEC’s                                   Project site.                                         the Wind Project remains the same as
                                                    recommendation and the Governor’s                           Turbine towers will be approximately               described and evaluated in the EIS.
                                                                                                                                                                      Because the State of Washington’s
                                                    approval of the Wind Project.                            221 to 265 feet tall at turbine hub
                                                                                                                                                                   decision to deny turbine strings A–1
                                                                                                             height, and up to 426 feet tall including
                                                    Alternatives Considered                                                                                        through A–7 and C–1 through C–8
                                                                                                             blades. The turbines will all be the same
                                                                                                                                                                   occurred after the Final EIS had issued,
                                                      The Final EIS prepared jointly by                      model, although height may vary in
                                                                                                                                                                   BPA prepared a Supplement Analysis
                                                    Washington EFSEC and BPA considered                      response to terrain. The turbine towers
                                                                                                                                                                   pursuant to its NEPA Regulations to
                                                    in detail the Proposed Action and the                    will be tapered, hollow tubular
                                                                                                                                                                   review whether the resulting authorized
                                                    No Action Alternative. The Final EIS                     structures, approximately 14 feet in
                                                                                                                                                                   turbine limitation constituted a
                                                    also discussed other alternatives that                   diameter at the base and mounted on a
                                                                                                                                                                   ‘‘substantial change’’ in the Proposed
                                                    were considered but eliminated from                      concrete foundation with a diameter up                Action within the meaning of NEPA.12
                                                    detailed study in the EIS. The following                 to approximately 60 feet. The towers                  In the Supplement Analysis, BPA
                                                    summarizes the alternatives that were                    will likely be painted a flat neutral gray            determined that the denial of these
                                                    considered in detail in the EIS.                         or white color. Some of the towers will               turbines was not such a change. The
                                                                                                             be furnished with blinking lights visible             Supplement Analysis that BPA has
                                                    Proposed Action                                          to aircraft.                                          prepared is available at www.bpa.gov/
                                                                                                                In each turbine string, individual
                                                       The Proposed Action involves the                                                                            go/ whistling.
                                                                                                             turbines will be spaced approximately
                                                    State of Washington’s approval of                        350 to 800 feet from the next (or                     Electrical Collector System
                                                    WRE’s Wind Project and BPA’s grant of                    approximately 1.5 to 2.5 times the                       In addition to wind turbines, the
                                                    an interconnection of the Wind Project                   diameter of the turbine rotor). Specific              Wind Project includes an electrical
                                                    to the FCRTS. Under the Proposed                         turbine strings have been identified and              collector system to collect and deliver
                                                    Action, the Wind Project facilities and                  approved by the State of Washington                   the energy generated at Project turbines
                                                    the BPA interconnection facilities will                  through its siting process for the Wind               to the Project’s collector substation.
                                                    be constructed and operated within an                    Project. The precise location of each                 Each turbine will generate energy at
                                                    approximately 1,150-acre site about 7                    turbine within these limited areas will               approximately 575 volts (V). A 575 V to
                                                    miles northwest of the City of White                     be determined during EFSEC’s ‘‘micro-                 34.5–kV transformer will be installed at
                                                    Salmon in Skamania County,                               siting’’ process, which is the final                  each turbine, either on a transformer
                                                    Washington. This site is private                         technical and engineering process by                  pad adjacent to the turbine or enclosed
                                                    commercial forestland in an                              which WRE will provide EFSEC with                     in the turbine’s nacelle, depending on
                                                    unincorporated area of Skamania                          the final exact location for each turbine.            the turbine model. From there, the
                                                    County, outside of the Scenic Area.                         The wind turbines will operate at                  collected energy will be transmitted to
                                                    Although the Wind Project site is                        wind speeds from 9 to 56 miles per                    the collector substation via underground
                                                    relatively large, only a small portion of                hour, with a rotor speed range of 10 to               34.5–kV electric cables. Approximately
                                                    the site will actually be developed with                 20 rotations per minute. The turbines                 8.5 miles of underground collector
                                                    Project facilities. About 56 acres would                 operate on a variable pitch principal in              cables will be installed. In areas where
                                                    be permanently developed with these                      which the rotor blades rotate to keep                 environmental constraints, geologic
                                                    facilities, and another approximately 52                 them at the optimum angle to maximize                 features, or cultural features necessitate,
                                                    acres would be subject to temporary                      output for all wind speeds. At speeds                 minor above ground placement of
                                                    disturbance primarily from construction                  exceeding 56 mph, the blades feather on               collector cables may occur.
                                                    activities.10 As a longstanding                          their axis and the rotor stops turning.                  All of the underground 34.5–kV
                                                    commercial forestry site, no old growth                  Each turbine is equipped with a wind                  electric cables will connect to the Wind
                                                    forests exist in areas where the Project                 vane that signals wind direction                      Project’s collector substation located in
                                                    will be developed.                                       changes to the turbine’s electronic                   the southern portion of the Wind Project
                                                       The Wind Project will have a total                    controller. The electronic controller                 site immediately adjacent to the new
                                                    installed capacity of up to 75 MW and                    operates electric motors (the yaw                     BPA interconnection substation. The
                                                    includes wind turbines, an electrical                    mechanism), which turn the nacelle and                collector substation will include voltage
                                                    collector system, other components, and                  rotor so that each turbine faces into the             transformers (non-polychlorinated
                                                    access roads as described below. The                     wind.                                                 biphenyl oil-filled types) to transform
                                                    BPA interconnection facilities,                             As described earlier in this Record of             the collected Project energy from 34.5–
                                                    including a substation and transmission                  Decision, WRE originally had proposed                 kV to 230–kV so that it is suitable for
                                                    lines, that will be constructed to                       developing up to 50 wind turbines at                  delivery to the FCRTS at the new BPA
                                                    interconnect the Wind Project are also                   the Wind Project site. Accordingly, in                substation. The collector substation will
                                                    described below.11                                       order to provide an analysis of the                   be a graveled, fenced area that would
                                                                                                             maximum potential development, a
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                                                                                                                                                                   include the voltage transformers,
                                                      10 The acreages described in this section represent
                                                                                                             maximum 50-turbine wind project was                   switching equipment, other electrical
                                                    the maximum amounts identified in the Whistling          what was described and evaluated in
                                                    Ridge Energy Project Final EIS; actual acreages for      the EIS for the Wind Project. The State                 12 U.S. Department of Energy NEPA Regulations,
                                                    the Project as approved by the State of Washington       of Washington’s approval of the Wind                  which are applicable to BPA, allow for the
                                                    will be less.                                            Project, however, denied turbine strings              preparation of a Supplement Analysis to determine
                                                      11 A more detailed discussion of the Proposed                                                                whether a new or supplemental EIS is required for
                                                    Action and the components of the Project is
                                                                                                             A–1 through A–7 and C–1 through C–                    changes to a proposed action covered in an existing
                                                    contained in Chapter 2 of the Whistling Ridge            8, thereby not approving 15 turbine sites             EIS, or whether no further NEPA documentation is
                                                    Energy Project Final EIS.                                out of the original 50 potential sites                required. See 10 CFR 1021.314.



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                                                                                    Federal Register / Vol. 80, No. 134 / Tuesday, July 14, 2015 / Notices                                           41023

                                                    equipment, and a parking area. A 50-                     road), with an additional 5 feet of                   above will provide access to the BPA
                                                    foot cleared area will be maintained                     shoulder on either side.                              substation.
                                                    around this substation.                                     In portions of the Wind Project site                  From the BPA substation, two new
                                                                                                             where there are no existing logging                   overhead 230–kV transmission lines
                                                    Other Wind Project Components                            roads, approximately 2.4 miles of new                 will extend south for about 1,000 feet to
                                                       To support the Wind Project, an                       permanent access roads will be                        the interconnection point on BPA’s
                                                    Operations and Maintenance (O&M)                         constructed. To construct these roads, a              North Bonneville-Midway transmission
                                                    facility will be constructed. The O&M                    gravel surface will be installed,                     line. These overhead lines will serve to
                                                    facility will be located on an                           compacted to meet all equipment load                  ‘‘loop in’’ the new BPA substation to the
                                                    approximately 5-acre area either                         requirements, and maintained to reduce                North Bonneville-Midway transmission
                                                    adjacent to the Wind Project’s collector                 wind erosion and dust. In addition,                   line. Ten transmission structures will be
                                                    substation or about one-half mile west                   some temporary access may be required                 installed to provide this loop-in. Two of
                                                    of the Wind Project site along West Pit                  at some locations. Generally, equipment               these structures will be installed along
                                                    Road. This 5-acre area will be fenced                    will be driven across open ground to                  the North Bonneville-Midway
                                                    and have a locked gate. The O&M                          access these locations, and some minor                transmission line to create a ‘‘break’’ in
                                                    facility will be constructed of sheet                    grading may be required to allow safe                 this line for the loop-in. One of these
                                                    metal and be approximately 16 feet tall                  access. Any temporary access routes                   structures will direct the line north to
                                                    to the roof peak. The facility will have                 will be re-graded and reseeded as                     the new substation and the other will
                                                    approximately 3,000 square feet of                       necessary to restore vegetation after                 connect it back into the existing
                                                    enclosed space, including office and                     construction is completed.                            alignment. Both structures will be steel
                                                    workshop areas, a kitchen, bathroom,                        Off of the Wind Project site, access to            lattice dead-end towers that will be
                                                    shower, and utility sink. Water for the                  the site will occur from SR 14 and                    installed entirely within the existing
                                                    facility will come from a new on-site                    County roads (Cook-Underwood Road to                  transmission line right-of-way. Due to
                                                    well; anticipated water use at this                      Willard Road) and then via a new                      topography, one of these structures will
                                                    facility is expected to be less than 5,000               connection to West Pit Road which                     be 50 feet tall and the other will be 85
                                                    gallons per day. Water used by the                       connects to the Wind Project site.                    feet tall.
                                                    facility will drain into an on-site septic               Approximately 2.5 miles of roadway                       The other eight transmission
                                                                                                             improvements will occur on West Pit                   structures will be wood pole structures
                                                    system. A graveled parking area for
                                                                                                             Road, which currently varies in width                 installed in between the BPA substation
                                                    employees, visitors, and equipment will
                                                                                                             between 20 and 26 feet. To create a                   and the interconnection point to
                                                    be located adjacent to the O&M facility.
                                                                                                             drivable surface of 25 feet with 5 feet of            support the two new overhead lines.
                                                       In addition, a meteorological tower                   clearing on each side, portions of the                Each of the two lines will have four
                                                    will be installed to collect and monitor                 roadway and some corners will be                      structures installed. For each line, the
                                                    wind speed and direction information                     widened. In addition, an existing                     structure closest to the BPA substation
                                                    as well as temperature, relative                         culvert that runs along a portion of this             will be a three-pole H-frame structure as
                                                    humidity and barometric pressure. The                    road may need some additional                         will the structure closest to the
                                                    location for this tower will be                          lengthening if the roadway is widened                 interconnection point. The remaining
                                                    determined during EFSEC’s micro-siting                   over the culvert.                                     two structures for each line will be two-
                                                    process, based on a meteorologist’s                                                                            pole H-frame structures. The eight
                                                    recommendations for an on-site location                  BPA Interconnection Facilities
                                                                                                                                                                   structures will be installed in a
                                                    that best represents the Wind Project                       BPA will construct a new substation                previously disturbed corridor running
                                                    site’s meteorological conditions.                        (currently referred to as the Little Buck             from the BPA substation to the
                                                    Meteorological towers are typically un-                  Substation) to interconnect the Wind                  interconnection point. The heights of
                                                    guyed lattice towers with either three or                Project to the FCRTS. The new BPA                     the eight structures will range from 50
                                                    four corners that taper in size up to the                substation will be located adjacent to                to 80 feet, depending on terrain.
                                                    tower’s top. These towers are                            the Wind Project’s collector substation                  In addition, because the loop-in will
                                                    constructed so that the top of the                       in the southern portion of the Wind                   need to cross underneath the
                                                    tower—and the meteorological                             Project site, near the southernmost BPA               Underwood Tap to Bonneville
                                                    monitoring equipment installed there—                    transmission line corridor that passes                Powerhouse 1-North Camas
                                                    is at the same approximate height as the                 through the site. BPA’s existing                      transmission line to reach the North
                                                    hub of nearby wind turbines (i.e., in the                Underwood Tap to Bonneville                           Bonneville-Midway transmission line, a
                                                    case of the Wind Project, approximately                  Powerhouse 1-North Camas 115–kV                       new steel lattice structure will be
                                                    221 to 262 feet high).                                   transmission line runs along the                      installed along the Underwood Tap to
                                                    Access Roads                                             northern side of this corridor, while                 Bonneville Powerhouse 1-North Camas
                                                                                                             BPA’s existing North Bonneville-                      transmission line to raise its conductors
                                                       Much of the Wind Project site is                      Midway 230–kV transmission line runs                  such that the loop-in can safely cross
                                                    accessible through an already existing                   along the southern side of the corridor.              underneath. This tower will be
                                                    network of logging roads at the site.                       Overhead lines will connect the Wind               approximately 80 feet tall and installed
                                                    Approximately 7.9 miles of existing                      Project’s collector substation to the BPA             entirely within the existing transmission
                                                    logging roads at the site will be                        substation. The BPA substation will                   line right-of-way. This tower and all
                                                    improved to allow use by Project                         occupy an area of approximately 430
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                                                                                                                                                                   other BPA interconnection facilities will
                                                    construction vehicles. These                             feet by 430 feet or approximately 4.25                be located outside of the Scenic Area.
                                                    improvements generally will involve                      acres. This area will be fenced, graded
                                                    road widening and providing a gravel                     and rocked. Inside the fence, there will              No Action Alternative
                                                    all-weather surface. These roads                         be a control house, six 230–kV                          The No Action Alternative described
                                                    currently are generally 8 to 12 feet wide,               disconnect switches, three 230–kV                     in the Final EIS involved the State of
                                                    although some are as wide as 20 feet.                    power circuit breakers, steel structures              Washington denying WRE’s Application
                                                    Most of these roads will be widened to                   and towers, insulators and bus work.                  for Site Certification for the Wind
                                                    approximately 25 feet (width of finished                 The graveled access roads described                   Project and/or BPA not granting


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                                                    41024                           Federal Register / Vol. 80, No. 134 / Tuesday, July 14, 2015 / Notices

                                                    interconnection of the Project to the                    interconnecting the Project to the                       The Skamania County Noxious Weed
                                                    FCRTS. As a result, the Project and its                  FCRTS.                                                Control Board sent an email to BPA that
                                                    various components would not be                             Although NEPA does not require                     provided updated contact information
                                                    constructed or operated under the No                     written responses to comments received                and a corrected Web site link. BPA has
                                                    Action Alternative, and the                              on a Final EIS, this section of the Record            revised its contact list for the Project to
                                                    environmental effects associated with                    of Decision summarizes and addresses                  include the updated contact
                                                    Project construction and operation                       the comments about the Project and EIS                information, and acknowledges that the
                                                    would not occur.13 Accordingly, under                    that BPA received after issuing the                   correct Board Web site link is http://
                                                    this alternative, the Wind Project’s                     Whistling Ridge Energy Project Final                  www.skamaniacounty.org/noxious-
                                                    output would not be available to                         EIS. Some of the comments that BPA                    weeds/.
                                                    utilities seeking renewable energy                       received identify post-Final EIS                         The Yakama Nation’s letter raised
                                                    resources in order to meet state                         developments that the commenter                       three main issues. BPA responded to
                                                    renewable energy goals, or to meet the                   believes warrant preparation of a                     these issues in an October 2011 letter to
                                                    region’s potential need for additional                   supplemental EIS. These post-Final EIS                the Yakama Nation; the following
                                                    power in coming years.                                   developments include the State of                     summarizes the issues raised and BPA’s
                                                       While the Project would not be                        Washington’s decision to deny turbine                 responses. First, the Yakama Nation
                                                    constructed or operated under the No                     strings A–1 through A–7 and C–1                       raised concerns about potential impacts
                                                    Action Alternative, activities with                      through C–8, as well as additional                    to an archaeological object found in May
                                                    environmental effects would still                        environmental information potentially                 2011 on Chemawa Hill within the Wind
                                                    continue to occur on the Wind Project                    relevant to the Wind Project. As                      Project site that was not identified in the
                                                    site. This site has been in commercial                   previously indicated in this Record of                Final EIS. Although not specifically
                                                    forestry use for the last century, during                Decision, BPA has prepared a                          identified in the Final EIS, the Final EIS
                                                    which the site has been logged over a                    Supplement Analysis to address the                    addressed the cultural significance of
                                                    series of approximately 50-year logging                  state’s denial of certain turbine strings;            Chemawa Hill and BPA acknowledges
                                                    rotations. It is reasonable to expect that               this Supplement Analysis also                         and respects that cultural significance.
                                                    SDS Lumber and others will continue to                   addresses additional environmental                    Additionally, the State of Washington’s
                                                    use the site for commercial forestry                     information potentially relevant to the               approval of the Wind Project did not
                                                    production—which would include                           Wind Project that has been raised by                  approve the turbine strings that would
                                                    regular tree clearing, harvesting,                       commenters, as well as other additional               have been located on Chemawa Hill,
                                                    replanting, and development of                           information and circumstances that BPA                thereby eliminating the potential for
                                                    additional logging roads as necessary—                                                                         impacts to any cultural resources at
                                                                                                             has become aware of. For comments that
                                                    for the foreseeable future if the Project                                                                      Chemawa Hill. Furthermore, WRE has
                                                                                                             identified post-Final EIS developments,
                                                    is not built.                                                                                                  committed to continued collaboration
                                                                                                             a summary response to each of these
                                                       On balance and overall, however, the                                                                        with the Yakama Nation regarding
                                                                                                             comments is provided here, with a more
                                                    development of a wind generation                                                                               construction activities in potential
                                                                                                             detailed consideration and evaluation of
                                                    facility at the Project site likely will                                                                       culturally sensitive areas.
                                                                                                             the post-Final EIS developments and                      Second, the Yakama Nation’s letter
                                                    result in greater local environmental                    whether or not they warrant preparation
                                                    impacts than would occur from                                                                                  reminded BPA of a tribal resolution
                                                                                                             of a supplemental EIS contained in the                specifying that only the Yakama Nation
                                                    continued periodic commercial forestry                   Supplement Analysis that BPA has
                                                    production under the No Action                                                                                 Cultural Resource Program is authorized
                                                                                                             prepared. As previously indicated, the                to represent the Yakama Nation in
                                                    Alternative. The No Action Alternative                   Supplement Analysis is available at
                                                    thus is the environmentally preferable                                                                         discussions concerning placement of
                                                                                                             www.bpa.gov/go/whistling.                             Wind Project turbines in culturally
                                                    alternative.                                                Comments were received from the                    sensitive areas. BPA acknowledges and
                                                    Public Comments Received Since                           following parties after the release of the            respects this tribal resolution.
                                                    Issuance of the Final EIS                                Final EIS:                                            Accordingly, although BPA is not
                                                       Following issuance of the Final EIS,                     • U.S. Environmental Protection                    involved in the turbine siting, in
                                                    BPA received comments concerning the                     Agency (EPA)                                          carrying out its interconnection actions,
                                                    Project and EIS from various parties.                       • Skamania County Noxious Weed                     BPA has and will continue to consult
                                                    These comments can be viewed on-line                     Control Board                                         with the Yakama Nation Cultural
                                                    at: www.bpa.gov/go/whistling. BPA has                       • Confederated Tribes and Bands of                 Resource Program as the designated
                                                    reviewed and considered all of these                     the Yakama Nation (Yakama Nation)                     representative for the Tribe with respect
                                                    comments in making its decision about                       • Seattle Audubon                                  to the Project.
                                                                                                                                                                      Third, the Yakama Nation’s letter
                                                                                                                • Friends of the Columbia Gorge
                                                                                                                                                                   stated views on the scope of BPA’s
                                                       13 At this point in time, the conclusion that the
                                                                                                             (Friends)
                                                    Wind Project would not be constructed and                                                                      review under NEPA and the National
                                                    operated if BPA were to deny interconnection may           EPA’s letter stated that the Final EIS              Historic Preservation Act (NHPA) for
                                                    no longer be true, given that the State of               was responsive to and addressed the                   the Project. While BPA respects the
                                                    Washington has approved the Wind Project and
                                                    granted a SCA to WRE. This state approval allows
                                                                                                             comments that they had submitted on                   Yakama Nation’s views, BPA believes
                                                    WRE to build its Wind Project regardless of BPA’s        the Draft EIS. The EPA expressed                      the Final EIS properly identifies the
                                                                                                             appreciation for additional clarifying                scope of BPA’s action for the Whistling
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                                                    action on the interconnection request. Thus, it is
                                                    conceivable that even if BPA denied                      environmental resource information                    Ridge Energy Project and that BPA has
                                                    interconnection, WRE could still build its Wind
                                                    Project and seek interconnection of the Wind
                                                                                                             provided in the Final EIS, other EIS                  appropriately considered its action
                                                    Project to the transmission lines of another             changes in response to public                         under NEPA and the NHPA, as well as
                                                    transmission provider, such as Klickitat or              comments, and BPA’s commitment to                     its federal trust responsibilities. BPA
                                                    Skamania PUD. Nonetheless, for the purposes of           continue to work with Tribes, state                   also notes that it fully participated in
                                                    this Record of Decision and the NEPA analysis,
                                                    BPA continues to presume that the Wind Project
                                                                                                             agencies, and other Federal agencies.                 the preparation of the joint NEPA/SEPA
                                                    would not be constructed and operated under the          BPA appreciates the EPA’s feedback in                 EIS that included analysis of the
                                                    No Action Alternative, as is stated in the Final EIS.    these areas.                                          environmental impacts of the entire


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                                                                                    Federal Register / Vol. 80, No. 134 / Tuesday, July 14, 2015 / Notices                                          41025

                                                    Project. Accordingly, in making a                        interconnections. BPA notes that it                   improvements that have helped address
                                                    decision to allow interconnection of the                 considers the information it received                 previously identified transmission
                                                    Wind Project to the FCRTS, BPA                           from WRE as part of the initial                       constraints in this portion of BPA’s
                                                    considered all of the environmental                      interconnection request by WRE as                     transmission system.
                                                    information about the Project that is                    sufficient and at an appropriate level of                Friends also believes that BPA should
                                                    contained in the Final EIS.                              detail to assess the impacts of the                   not act on WRE’s interconnection
                                                       The letter from the Seattle Audubon                   interconnection and complete the study                request until WRE signs the Final SCA
                                                    on behalf of itself and other groups                     phase of the interconnection process. In              for the Wind Project that the
                                                    requested that BPA and the U.S. Fish                     addition, the decision by the State of                Washington Governor has already
                                                    and Wildlife Service (FWS) reinitiate                    Washington to not approve certain                     signed, to ensure acceptance of the Final
                                                    Section 7 consultation under the                         turbines strings did not materially alter             SCA’s term and conditions by WRE.
                                                    Endangered Species Act (ESA) for the                     the sufficiency of this information for               BPA notes that WRE signed the Final
                                                    Project. In its letter, Seattle Audubon                  the purposes of interconnection studies,              SCA in November 2013. Accordingly,
                                                    stated that reinitiation of consultation                 given that the Wind Project’s maximum                 the terms and conditions in the Final
                                                    was needed because conclusions made                      total installed capacity did not change,              SCA, including those that serve as
                                                    by the FWS in its July 2010 concurrence                  and neither did the plan of service for               environmental mitigation measures, are
                                                    letter about the Project’s effect on                     interconnecting the Wind Project to the               fully binding on WRE.
                                                    northern spotted owl (NSO) appeared to                   FCRTS. The information requirements                      A final grounds urged by Friends for
                                                    be based on inaccurate information, the                  cited by Friends describe typical                     denying WRE’s interconnection request
                                                    FWS failed to evaluate key NSO                           information that BPA requires, to the                 is that the Wind Project, as approved by
                                                    information, and the FWS’s June 2011                     extent that it is applicable and                      the State of Washington, is not
                                                    Revised Recovery Plan for the NSO                        necessary, at various points in the                   economically viable based on
                                                    needed to be evaluated.                                  interconnection process. Consistent                   statements from WRE during the state’s
                                                       BPA responded in a November 2011                      with BPA’s normal process, BPA will                   siting review process. BPA contacted
                                                    letter in which BPA explained the                        obtain the more detailed technical                    WRE about this issue, and WRE recently
                                                    standards for reinitiating consultation                  information about Wind Project                        provided BPA with a letter addressing
                                                    and found that any misstatements or                      components relevant to its                            it. In its letter, WRE affirms that the
                                                    possible omissions were not substantial                  interconnection requirements as it                    Wind Project continues to be an
                                                    enough to justify reinitiation of                        refines the technical design for the BPA              economically viable project for a variety
                                                    consultation, and that it was unlikely                   interconnection facilities, but it is fully           of reasons. The letter points to Oregon
                                                    that further consideration of any                        expected that these refinements will not              and Washington state requirements for
                                                    corrections or omissions would change                                                                          increasing use of renewable energy
                                                                                                             alter the basic plan of service that has
                                                    the outcome of the FWS’s final                                                                                 resources in utility portfolios in coming
                                                                                                             already been developed. Accordingly,
                                                    determination. In a December 2011                                                                              years, other state as well as federal
                                                                                                             BPA has sufficient certainty about the
                                                    letter, the FWS also responded to Seattle                                                                      proposals that likely would result in
                                                                                                             Wind Project and its details to grant
                                                    Audubon by agreeing with BPA and                                                                               increased pressure to shift from fossil
                                                                                                             WRE’s interconnection request.
                                                    concluding that, based on a review of                                                                          fuel energy sources to renewable energy,
                                                    the additional information provided by                      Friends also urged BPA to not act on               and the potential for increased demand
                                                    Seattle Audubon as well as the Revised                   WRE’s interconnection request until                   from California for renewable energy.
                                                    Recovery Plan, they were not                             BPA updates a 2008 system impact                      The letter notes that demand for
                                                    recommending reinitiation of Section 7                   study with Wind Project details and                   renewables occurs in periodic waves,
                                                    consultation for the Project. In February                changes in system conditions since the                and these factors are expected to
                                                    2012, the FWS sent BPA a letter under                    study was completed. To clarify, BPA                  significantly increase renewable
                                                    Section 7(a)(2) of the ESA to review and                 performed the 2008 system impact                      demand in coming years. WRE also
                                                    address potentially inaccurate                           study in response to requests for                     attached a 2012 Declaration in
                                                    information and possible omissions that                  transmission service, not a request for               Washington state court made by Jason
                                                    had been identified. The FWS                             interconnection. Transmission service                 Spadaro, President of WRE, that further
                                                    concluded its letter by reaffirming the                  requests are handled separately and                   elaborates on the reasons why the Wind
                                                    determination made in its July 2010                      independently from interconnection                    Project is economically viable and
                                                    concurrence letter that the Project is not               requests such as the one being granted                affirms that WRE is committed to the
                                                    likely to adversely affect the NSO.                      as a result of this ROD. Moreover, the                Wind Project. This information from
                                                    Additional information concerning                        2008 system impact study was                          WRE sufficiently addresses the
                                                    Section 7 consultation and coordination                  performed for transmission service                    economic viability issue raised by
                                                    activities for the Project after issuance of             requests that were effectively                        Friends.
                                                    the Final EIS is provided in the                         withdrawn from consideration soon                        Regarding the EIS for the Project,
                                                    Supplemental Analysis that has been                      after the 2008 study was completed.                   Friends asserted in its letters that BPA
                                                    prepared for the EIS.                                    When WRE submits a transmission                       should prepare a supplemental EIS for
                                                       Finally, BPA received several letters                 service request, BPA will conduct a new               a variety of reasons. To begin with,
                                                    from Friends after issuance of the Final                 system impact study specific to                       Friends stated a supplemental EIS is
                                                    EIS that raised a variety of issues about                whatever that request entails. The                    necessary to address the limitation on
                                                    BPA’s proposed interconnection of the                    results of that study are not necessary               the maximum number of wind turbines
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                                                    Wind Project and the EIS. To begin                       for making a decision concerning the                  resulting from the State of Washington’s
                                                    with, Friends urged BPA to deny WRE’s                    requested interconnection, and BPA                    approval of the Wind Project. As
                                                    interconnection request because Friends                  believes it has a sufficient                          previously discussed in this Record of
                                                    believes WRE has not sufficiently                        understanding at this time of potential               Decision, BPA reviewed this limitation
                                                    defined the details of the Wind Project,                 system impacts from interconnecting                   through the Supplement Analysis it has
                                                    as approved by the State of Washington,                  the Wind Project. In addition, in recent              prepared. In the Supplement Analysis,
                                                    and thus has not satisfied the BPA’s                     years BPA has built new transmission                  BPA determined that the turbine
                                                    information requirements for                             facilities and made other infrastructure              limitation did not constitute a


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                                                    41026                           Federal Register / Vol. 80, No. 134 / Tuesday, July 14, 2015 / Notices

                                                    ‘‘substantial change’’ in the Proposed                   sufficient to analyze its environmental               Impacts on Wildlife in the Pacific
                                                    Action within the meaning of NEPA,                       impacts and meet the requirements of                  Northwest, Oregon and Washington’’ by
                                                    and that preparation of a supplemental                   NEPA. If there is a change in the Project             the U.S. Department of Agriculture
                                                    EIS therefore was not required.                          or its potential impacts at some point in             (USDA). BPA has reviewed this report,
                                                       Another reason to supplement the EIS                  the future as a result of further Project             and the analysis of wildlife impacts
                                                    stated by Friends is that Friends                        refinement, BPA would conduct                         contained in the Final EIS remains
                                                    believes the State of Washington’s                       appropriate additional NEPA review at                 sufficient under NEPA in light of the
                                                    approval requires BPA to reexamine its                   that time depending on the nature and                 report. In addition, additional
                                                    need for action identified in the Final                  scope of any change.                                  information provided by the report does
                                                    EIS, as well as the identified BPA                         Another reason stated by Friends is                 not alter the conclusions made in the
                                                    purposes. As discussed in the EIS,                       that the Final EIS failed to adequately               Final EIS about potential wildlife
                                                    BPA’s need for action is a need to                       evaluate wildlife impacts in the areas of             impacts. Thus, preparation of a
                                                    decide whether or not to grant the                       quantification of bird and bat mortality              supplemental EIS on the basis of the
                                                    requested interconnection of the Wind                    from blade strikes, evaluation of the                 USDA report is not necessary.
                                                    Project to the FCRTS. This need has not                  relative abundance of sensitive-status                   Another reason stated by Friends is
                                                    changed. Furthermore, the identified                     species, inclusion of critical info on                that the Final EIS fails to consider the
                                                    BPA purposes remain the same for the                     impacts to bats, and disclosure of                    effects of noise impacts on wildlife. BPA
                                                    state-approved Wind Project. These                       mitigation measures for wildlife                      notes first that the Final EIS does
                                                    purposes are considered in detail below                  impacts. The Final EIS provides                       consider disturbance of wildlife by
                                                    in the ‘‘BPA’s Rationale for Decision’’                  sufficient consideration and analyses of              Project construction, including through
                                                    section of this Record of Decision.                      these areas to meet the requirements of               changes to the noise environment. In
                                                       Another reason stated by Friends is                   NEPA.                                                 addition, BPA has reviewed information
                                                    that increases in regional wind energy                     Another reason stated by Friends is                 sources cited by Friends concerning
                                                    since the Final EIS was completed have                   that the EIS should address the FWS’s                 potential operational noise impacts to
                                                    affected BPA’s need for action identified                June 2011 Revised Recovery Plan for the               wildlife and has determined that this
                                                    in the Final EIS, as well as the identified              NSO. As discussed above, BPA and the                  information does not significantly alter
                                                    BPA purposes. As with the State of                       FWS have determined that reinitiation                 the conclusions made in the Final EIS
                                                    Washington’s decision to limit the                       of Section 7(2)(a) consultation is not                concerning potential operation impacts
                                                    maximum number of turbines, the                          needed as a result of the Revised                     to wildlife. As discussed in the
                                                    increase in regional wind energy has not                 Recovery Plan. In addition, BPA has                   Supplement Analysis that has been
                                                    changed the BPA need for action or its                   reviewed the Revised Recovery Plan,                   prepared, the project’s operational noise
                                                    identified purposes. Consideration of                    and any additional information                        would occur in a landscape of managed
                                                    the purposes in light of increased                       concerning NSO provided by the Plan                   timber land that is, and will continue to
                                                    regional wind energy is provided in the                  does not alter the conclusions made in                be, fragmented with ongoing
                                                    ‘‘BPA’s Rationale for Decision’’ section                 the final EIS about potential impacts to              disturbance. Any operational noise
                                                    of this Record of Decision.                              NSO. Correspondingly, no additional                   impacts to wildlife thus would fall
                                                       Another reason stated by Friends is                   analysis concerning the Revised                       within the bandwidth of overall
                                                    that the summary in the Final EIS of the                 Recovery Plan is needed in the EIS.                   degradation of wildlife habitat already
                                                    Applicant-identified needs for the Wind                    Another reason stated by Friends is                 discussed in the Final EIS.
                                                    Project requires reevaluation for several                that additional EIS analysis of impacts                  Another reason stated by Friends is
                                                    reasons. To clarify, these Applicant-                    to bald and golden eagles is needed to                that EIS review is needed of a
                                                    identified needs are not BPA’s need.                     comply with the FWS’s ‘‘Land-Based                    bibliography of noise impacts to wildlife
                                                    Nonetheless, the description of regional                 Wind Energy Guidelines’’ issued in                    that was published by the National Park
                                                    renewable energy needs—and more                          2012 and ‘‘Eagle Conservation Plan                    Service in 2011. BPA has reviewed the
                                                    importantly for BPA’s decision, project                  Guidance’’ issued in 2013, both of                    sources included in this bibliography
                                                    transmission needs—remains                               which have been reviewed by BPA. The                  that are relevant to wind projects and
                                                    reasonably accurate today and helps                      surveys that were conducted for the                   has determined that the source reports
                                                    provide useful context for why WRE has                   Wind Project generally comport with                   do not alter the conclusions made in the
                                                    proposed its Wind Project. This                          the FWS guidance in these documents                   Final EIS about potential wildlife
                                                    includes the description of the                          and, regardless, are sufficient for the               impacts.
                                                    Northwest Power and Conservation                         purposes of NEPA analysis.                               Another reason stated by Friends is
                                                    Council’s draft Sixth Northwest Power                    Furthermore, BPA notes that both of                   that EIS review is needed to address
                                                    Plan (Power Plan), which was                             these documents are intended to be                    recent studies on the effects of noise
                                                    subsequently finalized. BPA has                          guidelines to be followed only                        from operating wind turbines on human
                                                    reviewed the final Power Plan and finds                  voluntarily; in other words, they are not             health and the human environment.
                                                    that portions of the draft Power Plan                    required or mandatory. Just as                        BPA has reviewed these studies and
                                                    that are summarized in the Final EIS                     importantly, both of these FWS                        determined that the analysis of potential
                                                    remained substantially similar in the                    documents provide that projects for                   impacts to human health from wind
                                                    final version of the Power Plan.                         which planning is already underway                    turbine noise that is contained in the
                                                       Another reason stated by Friends is                   should comply with the                                Final EIS remains sufficient under
                                                    that BPA and EFSEC need to review                        recommendations going forward rather                  NEPA. The studies cited by Friends
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                                                    several aspects of the Project under                     than conducting restudies to apply the                largely are consistent with the
                                                    NEPA and SEPA that Friends believes                      guidance retroactively. Accordingly,                  discussion of potential noise impacts to
                                                    are unresolved or undecided. Friends                     additional EIS restudy is not required to             humans from wind turbine operations
                                                    states that these aspects include                        address these two guidance documents.                 that is contained in Section 3.7.2 of the
                                                    technical details, mitigation measures,                    Another reason stated by Friends is                 EIS, and do not alter the conclusions
                                                    and construction and operational plans                   that EIS review is needed of a 2012                   made in the Final EIS about these
                                                    that are yet to be resolved and approved.                report entitled ‘‘Synthesis of Wind                   impacts. BPA also notes EFSEC’s
                                                    Current information about the Project is                 Energy Development and Potential                      findings that construction and operation


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                                                                                    Federal Register / Vol. 80, No. 134 / Tuesday, July 14, 2015 / Notices                                           41027

                                                    of the Wind Project will comply with all                    Another reason stated by Friends is                recommendations of the FWS and DOJ
                                                    applicable noise regulations in the State                that the EIS needs to address the May                 concerning pre-construction
                                                    of Washington. Accordingly, a                            2011 discovery of an archaeological                   evaluations. In addition, as discussed in
                                                    supplemental EIS is not needed to                        object on Chemawa Hill. As is discussed               the Final EIS and pursuant to the Final
                                                    address these studies.                                   above, the Final EIS adequately                       SCA, pre-construction raptor nest
                                                       Another reason stated by Friends is                   addresses the cultural significance of                surveys will be conducted during the
                                                    that the EIS needs to address                            Chemawa Hill and impacts to cultural                  nesting season immediately prior to
                                                    information from EFSEC’s Final                           resources at this location are being                  beginning site preparation, and a
                                                    Adjudicative Order and                                   avoided.                                              Technical Advisory Committee of
                                                    Recommendation Order concerning the                         Another reason stated by Friends is                agency professionals and other bird
                                                    significance of impacts to scenic                        that the cumulative impacts analysis in               experts will be convened to assist with
                                                    resources from the Wind Project. EFSEC                   the Final EIS is outdated and                         developing measures to ensure that risks
                                                    provided a letter in December 2011 to                    inadequate, because additional wind                   to migratory birds and eagles are
                                                    Friends that largely addressed this                      energy resources and other development                minimized as much as possible.
                                                    issue. EFSEC’s letter explained that                     have been completed or are proposed                   Furthermore, as discussed above, the
                                                    EFSEC did not perform or use any new                     within the cumulative impact study area               Final SCA requires that a golden eagle
                                                    analysis or data for scenic impacts from                 since the Final EIS was issued. BPA’s                 and bald eagle plan be completed before
                                                    what was considered in the Final EIS.                    Supplement Analysis discusses this                    the Wind Project begins operations. The
                                                    EFSEC further explained that it simply                   additional development and concludes                  Final SCA also requires that this plan be
                                                    duplicated the review process utilized                   that it either has no cumulative impacts              completed in consultation with the FWS
                                                    in the EIS in making its determination                   beyond those already described in the                 and WDFW, which BPA expects will
                                                    concerning the significance of                           Final EIS or has resulted in only                     ensure that these agencies are in
                                                    viewscape change for the Wind Project                    negligible increases in cumulative                    agreement with the approach being
                                                    from various viewing sites. In so doing,                 impacts within the scope of those                     taken. Accordingly, the information
                                                    EFSEC emphasized that it did not find                    already discussed in the Final EIS. For               concerning the Wyoming enforcement
                                                    any serious flaws in the Final EIS’s                     these reasons, a supplemental EIS to                  action does not significantly change the
                                                    analysis of scenic impacts, did not                      further consider cumulative impacts is                analysis or conclusions concerning
                                                    discredit any conclusions made in the                    not necessary.                                        migratory birds and eagles in the Final
                                                                                                                In its letters, Friends also states that           EIS.
                                                    EIS about these impacts, and found
                                                                                                             it believes BPA must obtain permits                      BPA also has reviewed available
                                                    nothing that would violate state law.
                                                                                                             under the Bald and Golden Eagle                       information concerning the golden eagle
                                                    Accordingly, while EFSEC members                         Protection Act (BGEPA) and the                        deaths at the Wild Horse Wind Project.
                                                    may have developed their own opinion                     Migratory Bird Treaty Act (MBTA) in                   The analysis of potential impacts to
                                                    on scenic impacts, they did not alter or                 order to approve the interconnection. As              golden eagles completed for the
                                                    undermine the analysis of scenic                         discussed in the Final EIS, the Wind                  Whistling Ridge Energy Project Final
                                                    impacts contained in the Final EIS. BPA                  Project would not involve intentional                 EIS remains sufficiently accurate even
                                                    concurs with EFSEC’s response and                        acts in wanton disregard of bald or                   in light of this information.
                                                    believes that the Final EIS does not need                golden eagles under the BGEPA and                     Furthermore, the consultation that will
                                                    to be supplemented on the basis of this                  would not be expected to result in a take             occur with the FWS for the golden eagle
                                                    issue.                                                   or killing of migratory bird species                  and bald eagle plan for the Wind Project
                                                       Another reason stated by Friends is                   within the meaning of the MBTA.                       will ensure that all impacts to golden
                                                    that the EIS understates the Project’s                   Moreover, the Final SCA between the                   eagles are appropriately considered and
                                                    likely scenic impacts. First, as Friends                 State of Washington and WRE makes                     addressed. As part of that consultation,
                                                    notes, the Final EIS acknowledges the                    WRE responsible for completing a plan                 it is expected that WRE and the FWS
                                                    scenic impacts of the Project. While                     to comply with requirements of these                  will coordinate as necessary concerning
                                                    Friends may disagree about the degree                    statutes. It is BPA’s understanding that              whether an eagle take permit is needed
                                                    of those impacts, the Final EIS provides                 if a permit is required for the Wind                  for the Wind Project.
                                                    a reasonable analysis of potential scenic                Project under either statute, that will be               Finally, Friends has provided BPA
                                                    impacts and draws reasonable                             the responsibility of WRE, as the owner               with a petition from citizens opposed to
                                                    conclusions about their significance.                    and operator of the Wind Project, to                  the Wind Project. On behalf of these
                                                    Second, the denial by the State of                       obtain. Accordingly, it is not necessary              citizens, Friends’ letter transmitting the
                                                    Washington of turbine strings A–1                        for BPA to seek permits under the                     petition urges BPA to deny the
                                                    through A–7 and C–1 through C–8                          BGEPA and MBTA under these                            requested interconnection for a variety
                                                    served to substantially reduce the                       circumstances.                                        of reasons, largely similar to those
                                                    overall scenic impact of the Wind                           In addition, Friends asks BPA to                   expressed in other letters from Friends
                                                    Project from various viewing points in                   consider evaluating recent information                and addressed above. BPA respects the
                                                    the Columbia River Gorge, include those                  concerning an enforcement action under                viewpoints and opinions expressed in
                                                    within the Scenic Area. The denial of                    the MBTA related to wind projects in                  the petition and understands that there
                                                    these turbines thus further mitigated                    Wyoming and deaths of golden eagles at                are some who are opposed to the Wind
                                                    scenic impacts to ensure that potential                  the Wild Horse Wind Project in central                Project given its location. BPA has
                                                    levels of visual impacts would not be                    Washington State. BPA has reviewed
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                                                                                                                                                                   included consideration of the petition in
                                                    higher than low to moderate at any of                    available information concerning the                  making its decision (see ‘‘BPA’s
                                                    the viewpoints examined. As a result,                    Wyoming wind project enforcement                      Rationale for Decision’’ section below).
                                                    the conclusions in the FEIS concerning                   action, including the U.S. Department of
                                                    the level of potential visual impacts at                 Justice (DOJ) press release regarding the             BPA’S Rationale for Decision
                                                    various viewpoints remains relatively                    enforcement. The Final EIS sufficiently                  In making its decision to implement
                                                    accurate, and the Final EIS does not                     addresses and analyzes the potential for              its part of the Proposed Action, BPA has
                                                    need to be supplemented on the basis of                  impacts to migratory birds and eagles in              considered and balanced a variety of
                                                    this issue.                                              a manner consistent with the                          relevant factors. BPA considered how


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                                                    41028                           Federal Register / Vol. 80, No. 134 / Tuesday, July 14, 2015 / Notices

                                                    well each alternative under                              maintain the stability and reliability of                In planning and designing the Wind
                                                    consideration—the Proposed Action                        its transmission system. The physical                 Project, it is clear that WRE attempted
                                                    alternative and the No Action                            interconnection of the Wind Project to                to minimize potential environmental
                                                    alternative—would fit with BPA’s                         the FCRTS will be designed and                        impacts where possible. In addition,
                                                    statutory missions and relevant policies                 constructed to meet applicable                        EFSEC and BPA have identified
                                                    and procedures. BPA also considered                      reliability criteria and standards                    numerous mitigation measures in the
                                                    the environmental impacts described in                   intended to maintain system stability,                Final EIS to further reduce, avoid, or
                                                    the Final EIS. In addition, BPA                          and the LGIA will include operating                   compensate for Project impacts. These
                                                    considered new environmental                             parameters and other provisions to                    measures are also included as
                                                    information and other circumstances,                     ensure that operation of the Wind                     conditions in the Final SCA for the
                                                    including the State of Washington’s                      Project will not impair system                        Wind Project that EFSEC has found will
                                                    denial of certain turbine strings,                       reliability. Furthermore, BPA’s                       ensure that the Project will produce
                                                    addressed in the Supplement Analysis.                    implementation of its part of the                     minimal adverse environmental
                                                    BPA also considered public comments                      Proposed Action will not interfere with               impacts. Nonetheless, it is
                                                    received throughout the NEPA process                     BPA’s ability to meet its statutory and               acknowledged that the Project will
                                                    for the Project, including those received                contractual obligations. Although BPA                 create a number of environmental
                                                    on the Draft and Final EISs. Another                     has no express statutory or contractual               impacts even with the implementation
                                                    consideration was the extent to which                    obligation to construct the new                       of mitigation. These impacts, which are
                                                    each alternative under consideration                     substation that will be built for this                fully disclosed in the Final EIS,
                                                    would meet the following BPA purposes                    interconnection, constructing the                     primarily include disturbance of soils,
                                                    (i.e., objectives) identified in the Final               substation is consistent with BPA’s                   conversion of habitat, direct mortality of
                                                    EIS:                                                     statutory directive to make additions to              birds, increases in noise and traffic in
                                                       • Maintain the electrical stability and               the transmission system, as appropriate,              the vicinity, and—characterized by
                                                    reliability of the FCRTS;                                in order to integrate and transmit                    EFSEC as the ‘‘most hotly contested’’—
                                                       • Continue to meet BPA’s statutory                    electric power and maintain system                    impacts to scenic resources.
                                                    and contractual obligations;                             stability and reliability.                               BPA understands the sensitivities of
                                                       • Act consistently with BPA’s                                                                               many individuals to these impacts, and
                                                    environmental and social                                    BPA has adopted measures to ensure
                                                                                                             that granting the requested                           recognizes that the prospect of these
                                                    responsibilities; and                                                                                          impacts has led certain individuals—as
                                                       • Provide for cost and administrative                 interconnection will not contribute to
                                                                                                                                                                   well as some groups such as Friends—
                                                    efficiency.                                              issues caused by generation oversupply
                                                                                                                                                                   to oppose the Wind Project. BPA also
                                                       Finally, BPA took into consideration                  conditions on BPA’s transmission
                                                                                                                                                                   appreciates that the Columbia River
                                                    the State of Washington’s siting                         system at certain times of the year. To
                                                                                                                                                                   Gorge is a special place to many people
                                                    authority and regulatory jurisdiction                    address these issues, BPA developed an
                                                                                                                                                                   and is one of the landscapes that makes
                                                    over the Wind Project, the information                   Oversupply Management Protocol
                                                                                                                                                                   the Pacific Northwest great. However,
                                                    from the state’s lengthy and extremely                   (Protocol) as an amendment to its
                                                                                                                                                                   with the extensive mitigation measures
                                                    thorough siting process for the Wind                     transmission tariff. This Protocol
                                                                                                                                                                   that have been identified and SCA
                                                    Project, and the unanimous Washington                    provides a set of policies and
                                                                                                                                                                   conditions that have been imposed, BPA
                                                    Supreme Court decision upholding the                     operational practices that allow for the              believes that the Project will be
                                                    Governor’s approval of the Wind                          management of oversupply events while                 implemented in an environmentally
                                                    Project. The entire record of EFSEC’s                    complying with environmental                          responsible manner. In addition, in
                                                    administrative proceedings for the Wind                  responsibilities as well as satisfying                making a decision to grant the requested
                                                    Project—including the EIS process and                    statutory and contractual obligations                 interconnection, BPA believes it has
                                                    the adjudication—was certified to the                    and maintaining reliability and stability.            fully carried out its environmental
                                                    Washington Supreme Court. BPA has                        These Protocol goals align with BPA’s                 responsibilities under NEPA, the ESA,
                                                    considered that record in making its                     purposes identified in the Final EIS.                 and other applicable environmental
                                                    decision.                                                The Protocol was approved by FERC                     laws.
                                                       After considering and balancing all of                late last year, which has provided                       Concerning impacts to scenic
                                                    these factors, BPA has decided to grant                  certainty with respect to BPA’s                       resources, BPA recognizes that the State
                                                    the requested interconnection and offer                  approach to the management of                         of Washington’s decision to deny
                                                    an LGIA to WRE. Approving this                           oversupply events. Because the Wind                   turbine strings A–1 through A–7 and C–
                                                    interconnection is consistent with the                   Project will be subject to the Protocol               1 through C–8 served to mitigate the
                                                    policies embodied in BPA’s                               through its LGIA, the Wind Project will               most significant visual impacts of the
                                                    transmission tariff, which is based on                   not exacerbate operational and                        Wind Project. Accordingly, these
                                                    allowing open access to transmission                     reliability issues associated with future             impacts have been substantially reduced
                                                    and interconnection services on the                      oversupply events that may occur.                     from those depicted in the visual
                                                    FCRTS. BPA has adopted its tariff to be                     Granting the requested                             simulations included in the Final EIS.
                                                    consistent with national policy                          interconnection will serve to integrate a             BPA respects and appreciates the
                                                    promulgated by FERC that directs                         new renewable generating resource.                    sentiments expressed by Governor
                                                    transmission providers to provide open                   This will be consistent with certain                  Gregoire in her March 2012 approval
                                                    access to their transmission systems.                    FERC interconnection policies intended                letter concerning the evaluation of
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                                                    Because WRE has complied with the                        to help facilitate the integration of new             visual impacts that led to the state’s
                                                    established tariff procedures for                        renewable resources, which in turn are                decision to not approve the most
                                                    proposed interconnections, BPA                           consistent with the Obama                             visually prominent turbines associated
                                                    believes it is appropriate under its tariff              Administration’s policies and action                  with the Wind Project. BPA agrees that
                                                    to grant WRE’s interconnection request.                  plan to address climate change by                     the Columbia River Gorge is a unique
                                                       Granting the requested                                increasing reliance on renewable                      and beautiful landscape, and that
                                                    interconnection will not interfere with                  resources to reduce greenhouse gas                    proposed development within view of
                                                    or otherwise affect BPA’s ability to                     emissions.                                            the Columbia River Gorge—even if


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                                                                                    Federal Register / Vol. 80, No. 134 / Tuesday, July 14, 2015 / Notices                                  41029

                                                    outside of the Scenic Area as is the case                Mitigation                                  electronic mail to Electricity.Exports@
                                                    with the Wind Project—warrants                              All the mitigation measures described hq.doe.gov, or by facsimile to 202–586–
                                                    thoughtful and careful consideration of                  in the Draft EIS and updated in the Final 8008.
                                                    its potential to impact scenic resources.                EIS have been adopted. A complete list      SUPPLEMENTARY INFORMATION: Exports of
                                                    BPA believes that such consideration                     of these measures can be found in the       electricity from the United States to a
                                                    has been amply demonstrated in this                      Mitigation Action Plan. WRE will be         foreign country are regulated by the
                                                    case, and that definite and effective                    responsible for executing mitigation        Department of Energy (DOE) pursuant to
                                                    action has been taken by the State of                    measures identified for the Wind            sections 301(b) and 402(f) of the
                                                    Washington to reasonably help protect                    Project, while BPA will be responsible      Department of Energy Organization Act
                                                    views as a result of this consideration.                 for executing the mitigation measures       (42 U.S.C. 7151(b), 7172(f)) and require
                                                    Furthermore, BPA agrees with the                         associated with the BPA                     authorization under section 202(e) of
                                                    Governor that the state-approved Wind                    interconnection facilities.                 the Federal Power Act (16 U.S.C.
                                                    Project strikes an effective balance                        In addition to identifying mitigation    824a(e)).
                                                    between minimizing visual impacts                        measures in the EIS, the State of              On June 5, 2015, DOE received an
                                                    while still carrying out the public                      Washington has included numerous            application from the Applicant for
                                                    interest of the State of Washington in                   conditions in the Final SCA for the         authority to transmit electric energy
                                                    approving sites for alternative energy                   Wind Project that are intended to ensure from the United States to Mexico as a
                                                    facilities.                                              that the Wind Project is built and          power marketer for a five-year term
                                                                                                             operated in a way that preserves and        using existing international
                                                       The total cost of the BPA
                                                                                                             protects the quality of the environment. transmission facilities. The Applicant
                                                    interconnection facilities is estimated at                                                           will register as a Power Marketer with
                                                                                                             As environmental mitigation,
                                                    $12.6 million. All costs associated with
                                                                                                             Washington EFSEC has found that these the Texas Public Utilities Commission
                                                    these facilities will be advance funded                                                              (PUCT.) The Applicant will also register
                                                                                                             conditions will ensure that the Project
                                                    by WRE and administration of contracts                   will produce minimal adverse                as a Purchasing Selling Entity with the
                                                    with WRE will follow normal,                             environmental effects. WRE will be          Texas Reliability Entity (TRE) and the
                                                    established procedures. In accordance                    required to comply with these Final         North American Electric Reliability
                                                    with BPA’s open access transmission                      SCA conditions. As discussed above,         Corporation (NERC).
                                                    tariff, WRE will be eligible to receive                  the Final SCA is available at http://          In its application, the Applicant states
                                                    transmission credits for any portion of                  www.efsec.wa.gov/whistling                  that it does not own or control any
                                                    the interconnection facilities that                      %20ridge.shtml.                             electric generation or transmission
                                                    constitute network upgrades. BPA                                                                     facilities, and it does not have a
                                                                                                                Issued in Portland, Oregon.
                                                    believes that this approach provides for                                                             franchised service area. The electric
                                                                                                                Dated: June 24, 2015.                    energy that the Applicant proposes to
                                                    both cost and administrative
                                                    efficiencies.                                            Elliot E. Mainzer,                          export to Mexico would be surplus
                                                                                                             Administrator and Chief Executive Officer.  energy purchased from third parties
                                                       Finally, in deciding to grant the
                                                    requested interconnection, BPA believes
                                                                                                             [FR Doc. 2015–17087 Filed 7–13–15; 8:45 am] such as electric utilities and Federal
                                                    it is being appropriately respectful of                  BILLING CODE 6450–01–P                      power marketing agencies pursuant to
                                                    state authorities concerning the siting of                                                           voluntary agreements. The existing
                                                    non-federal generation projects. As has                                                              international transmission facilities to
                                                                                                             DEPARTMENT OF ENERGY                        be utilized by the Applicant have
                                                    been mentioned previously in this
                                                                                                             [OE Docket No. EA–413]                      previously been authorized by
                                                    Record of Decision, BPA does not have
                                                                                                                                                         Presidential permits issued pursuant to
                                                    siting authority or regulatory
                                                                                                             Application to Export Electric Energy;      Executive Order 10485, as amended,
                                                    jurisdiction over these facilities. That is
                                                                                                             Elan Energy Services, LLC                   and are appropriate for open access
                                                    the purview of appropriate state and
                                                                                                                                                         transmission by third parties.
                                                    local entities, in this case Washington                  AGENCY: Office of Electricity Delivery         Procedural Matters: Any person
                                                    EFSEC and, ultimately, the Washington                    and Energy Reliability, DOE.                desiring to be heard in this proceeding
                                                    Governor. BPA notes that the siting                      ACTION: Notice of application.              should file a comment or protest to the
                                                    process conducted by the State of                                                                    application at the address provided
                                                    Washington for the Wind Project was                      SUMMARY: Elan Energy Services, LLC
                                                                                                                                                         above. Protests should be filed in
                                                    both lengthy and extremely thorough,                     (Applicant) has applied for authority to    accordance with Rule 211 of the Federal
                                                    and addressed many of the same                           transmit electric energy from the United Energy Regulatory Commission’s (FERC)
                                                    environmental issues also considered in                  States to Mexico pursuant to section        Rules of Practice and Procedures (18
                                                    the Final EIS for the Project. BPA also                  202(e) of the Federal Power Act.            CFR 385.211). Any person desiring to
                                                    notes that the State of Washington                       DATES: Comments, protests, or motions       become a party to these proceedings
                                                    decided to approve construction and                      to intervene must be submitted on or        should file a motion to intervene at the
                                                    operation of the Wind Project on the                     before August 13, 2015.                     above address in accordance with FERC
                                                    basis of the siting process and Final EIS.               ADDRESSES: Comments, protests,              Rule 214 (18 CFR 385.214). Five copies
                                                    Finally, BPA notes that this approval                    motions to intervene, or requests for       of such comments, protests, or motions
                                                    was upheld by the Washington Supreme                     more information should be addressed        to intervene should be sent to the
asabaliauskas on DSK5VPTVN1PROD with NOTICES




                                                    Court in a legal challenge of the siting                 to: Office of Electricity Delivery and      address provided above on or before the
                                                    process brought against the State of                     Energy Reliability, Mail Code: OE–20,       date listed above.
                                                    Washington. In light of this, granting the               U.S. Department of Energy, 1000                Comments and other filings
                                                    requested interconnection provides the                   Independence Avenue SW.,                    concerning the Applicant’s application
                                                    appropriate comity to the State of                       Washington, DC 20585–0350. Because          to export electric energy to Mexico
                                                    Washington’s legally executed overall                    of delays in handling conventional mail, should be clearly marked with OE
                                                    authorities concerning the siting of the                 it is recommended that documents be         Docket No. EA–413. An additional copy
                                                    Wind Project.                                            transmitted by overnight mail, by           is to be provided directly to Andrew B.


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Document Created: 2018-02-23 09:19:18
Document Modified: 2018-02-23 09:19:18
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionNotices
ActionRecord of Decision (ROD).
ContactAmy Gardner, Transmission Project Manager, Bonneville Power Administration--TEP-TPP-1, P.O. Box 61409, Vancouver, WA 98666-1409; toll-free telephone number 1-800-622-4519; or email [email protected] or Katey Grange, Environmental Protection Specialist, Bonneville Power Administration--KEC-4, P.O. Box 3621, Portland, Oregon, 97208-3621; toll-free telephone number 1-800-622- 4519; or email [email protected]
FR Citation80 FR 41019 

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