80_FR_51067 80 FR 50905 - Surface Transportation Project Delivery Program; TxDOT Audit Report

80 FR 50905 - Surface Transportation Project Delivery Program; TxDOT Audit Report

DEPARTMENT OF TRANSPORTATION
Federal Highway Administration

Federal Register Volume 80, Issue 162 (August 21, 2015)

Page Range50905-50912
FR Document2015-20733

Section 1313 of the Moving Ahead for Progress in the 21st Century Act (MAP-21) established the permanent Surface Transportation Project Delivery Program that allows a State to assume FHWA's environmental responsibilities for review, consultation, and compliance for Federal highway projects. This section mandates semiannual audits during each of the first 2 years of State participation to ensure compliance by each State participating in the Program. When a State assumes these Federal responsibilities, the State becomes solely responsible and liable for carrying out the responsibilities it has assumed, in lieu of FHWA. This notice announces and solicits comments on the first audit report for the Texas Department of Transportation (TxDOT).

Federal Register, Volume 80 Issue 162 (Friday, August 21, 2015)
[Federal Register Volume 80, Number 162 (Friday, August 21, 2015)]
[Notices]
[Pages 50905-50912]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-20733]



[[Page 50905]]

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DEPARTMENT OF TRANSPORTATION

Federal Highway Administration

[FHWA Docket No. FHWA-2015-0017]


Surface Transportation Project Delivery Program; TxDOT Audit 
Report

AGENCY: Federal Highway Administration (FHWA), DOT.

ACTION: Notice; request for comment.

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SUMMARY: Section 1313 of the Moving Ahead for Progress in the 21st 
Century Act (MAP-21) established the permanent Surface Transportation 
Project Delivery Program that allows a State to assume FHWA's 
environmental responsibilities for review, consultation, and compliance 
for Federal highway projects. This section mandates semiannual audits 
during each of the first 2 years of State participation to ensure 
compliance by each State participating in the Program. When a State 
assumes these Federal responsibilities, the State becomes solely 
responsible and liable for carrying out the responsibilities it has 
assumed, in lieu of FHWA. This notice announces and solicits comments 
on the first audit report for the Texas Department of Transportation 
(TxDOT).

DATES: Comments must be received on or before September 21, 2015.

ADDRESSES: Mail or hand deliver comments to Docket Management Facility: 
U.S. Department of Transportation, 1200 New Jersey Avenue SE., Room 
W12-140, Washington, DC 20590. You may also submit comments 
electronically at www.regulations.gov. All comments should include the 
docket number that appears in the heading of this document. All 
comments received will be available for examination and copying at the 
above address from 9 a.m. to 5 p.m., e.t., Monday through Friday, 
except Federal holidays. Those desiring notification of receipt of 
comments must include a self-addressed, stamped postcard or you may 
print the acknowledgment page that appears after submitting comments 
electronically. Anyone is able to search the electronic form of all 
comments in any one of our dockets by the name of the individual 
submitting the comment (or signing the comment, if submitted on behalf 
of an association, business, or labor union). The DOT posts these 
comments, without edit, including any personal information the 
commenter provides, to www.regulations.gov, as described in the system 
of records notice (DOT/ALL-14 FDMS), which can be reviewed at 
www.dot.gov/privacy.

FOR FURTHER INFORMATION CONTACT: Dr. Owen Lindauer, Office of Project 
Development and Environmental Review, (202) 366-2655, 
[email protected], or Mr. Jomar Maldonado, Office of the Chief 
Counsel, (202) 366-1373, [email protected], Federal Highway 
Administration, Department of Transportation, 1200 New Jersey Avenue 
SE., Washington, DC 20590. Office hours are from 8:00 a.m. to 4:30 
p.m., e.t., Monday through Friday, except Federal holidays.

SUPPLEMENTARY INFORMATION: 

Electronic Access

    An electronic copy of this notice may be downloaded from the 
specific docket page at www.regulations.gov.

Background

    Congress proposed and the President signed into law, MAP-21 Section 
1313, establishing the Surface Transportation Project Delivery Program 
that allows a State to assume FHWA's environmental responsibilities for 
review, consultation, and compliance for Federal highway projects. This 
provision has been codified at 23 U.S.C. 327. When a State assumes 
these Federal responsibilities, the State becomes solely responsible 
and liable for carrying out the responsibilities it has assumed, in 
lieu of FHWA. This permanent program follows a pilot program 
established by Section 6005 of the Safe, Accountable, Flexible, 
Efficient Transportation Equity Act: A Legacy for Users, where the 
State of California assumed FHWA's environmental responsibilities (from 
June 29, 2007). The TxDOT published its application for assumption 
under the National Environmental Policy Act (NEPA) Assignment Program 
on March 14, 2014, at Texas Register 39(11):1992 and made it available 
for public comment for 30 days. After considering public comments, 
TxDOT submitted its application to FHWA on May 29, 2014. The 
application served as the basis for developing the memorandum of 
understanding (MOU) that identifies the responsibilities and 
obligations TxDOT would assume. The FHWA published a notice of the 
draft of the MOU in the Federal Register on October 10, 2014, at 79 FR 
61370 with a 30-day comment period to solicit the views of the public 
and Federal agencies. After the close of the comment period FHWA and 
TxDOT considered comments and proceeded to execute the MOU. Since 
December 16, 2014, TxDOT has assumed FHWA's responsibilities under 
NEPA, and the responsibilities for the NEPA-related Federal 
environmental laws. Section 327(g) of Title 23, United States Code, 
requires the Secretary to conduct semiannual audits during each of the 
first 2 years of State participation, and annual audits during each 
subsequent year of State participation to ensure compliance by each 
State participating in the Program. The results of each audit must be 
presented in the form of an audit report and be made available for 
public comment. This notice announces the availability of the first 
audit report for TxDOT and solicits public comment on same.

    Authority:  23 U.S.C. 327; 49 CFR 1.48.

    Issued on: August 14, 2015.
Gregory G. Nadeau,
Administrator, Federal Highway Administration.

DRAFT--Surface Transportation Project Delivery Program FHWA Audit of 
the Texas Department of Transportation December 16, 2014, and June 16, 
2015

Executive Summary

    This is the first audit conducted by a team of Federal Highway 
Administration (FHWA) staff of the performance of the Texas Department 
of Transportation (TxDOT) regarding responsibilities and obligations 
assigned under a memorandum of understanding (MOU) whose term began on 
December 16, 2014. From that date, TxDOT assumed FHWA's National 
Environmental Policy Act (NEPA) responsibilities and liabilities for 
the Federal-aid highway program funded projects in Texas (NEPA 
Assignment Program) and FHWA's environmental role is now limited to 
program oversight and review. The FHWA audit team (team) was formed in 
January 2015 and met regularly to prepare for conducting the audit. 
Prior to the on-site visit, the team performed reviews of TxDOT project 
file NEPA documentation in the Environmental Compliance Oversight 
System (ECOS, TxDOT's official project filing system), examined the 
TxDOT pre-audit information response, and developed interview 
questions. The on-site portion of this audit, when all TxDOT and other 
agency interviews were performed, was conducted between April 13 and 
17, 2015.
    As part of its review responsibilities specified in 23 U.S.C. 327, 
the team planned and conducted an audit of TxDOT's responsibilities 
assumed under the MOU. The TxDOT is still in the transition of 
preparing and implementing procedures and processes required for the 
NEPA Assignment. It was evident that TxDOT has made reasonable progress 
in implementing the start-up phase of the NEPA Assignment

[[Page 50906]]

Program and that overall the team found evidence that TxDOT is 
committed to establishing a successful program. This report provides 
the team's assessment of the current status of several aspects of the 
NEPA Assignment Program, including successful practices and 16 
observations that represent opportunities for TxDOT to improve their 
program. The team identified two non-compliance observations that TxDOT 
will need to address as corrective actions in their self-assessment 
report.
    The TxDOT has carried out the responsibilities it has assumed in 
keeping with the intent of the MOU and the Application. The team finds 
TxDOT to be in substantial compliance with the provisions of the MOU. 
By addressing the observations in this report, TxDOT will continue to 
move the program toward success.

Background

    Congress proposed and the President signed into law, the Moving 
Ahead for Progress in the 21st Century Act (MAP-21) Section 1313, that 
established the Surface Transportation Project Delivery Program that 
allows a State to assume FHWA's environmental responsibilities for 
review, consultation, and compliance for Federal highway projects. This 
section is codified at 23 U.S.C. 327. When a State assumes these 
Federal responsibilities, the State becomes solely responsible and 
liable for carrying out the responsibilities it has assumed, in lieu of 
FHWA. This permanent program follows a pilot program established by 
Section 6005 of the Safe, Accountable, Flexible, Efficient 
Transportation Equity Act: A Legacy for Users (SAFETEA-LU), where the 
State of California assumed FHWA's environmental responsibilities (from 
June 29, 2007).
    The TxDOT published its application for assumption under the NEPA 
Assignment Program on March 14, 2014, and made it available for public 
comment for 30 days. After considering public comments, TxDOT submitted 
its application to FHWA on May 29, 2014. The application served as the 
basis for developing the MOU that identifies the responsibilities and 
obligations TxDOT would assume. The FHWA published a notice of the 
draft of the MOU in the Federal Register on October 10, 2014, at 79 FR 
61370, with a 30-day comment period to solicit the views of the public 
and Federal agencies. After the close of the comment period FHWA and 
TxDOT considered comments and proceeded to execute the MOU. Since 
December 16, 2014, TxDOT has assumed FHWA's responsibilities under 
NEPA, and the responsibilities for the NEPA-related Federal 
environmental laws. These are responsibilities for (among a list of 
other regulatory interactions) the Endangered Species Act, Section 7 
consultations with the U.S. Fish and Wildlife Service (USFWS) and the 
National Oceanic and Atmospheric Administration National Marine 
Fisheries Service, and Section 106 consultations regarding impacts to 
historic properties. Two Federal responsibilities were not assigned to 
TxDOT and remain with FHWA: (1) Making project-level conformity 
determinations under the Federal Clean Air Act and (2) conducting 
government to government consultation with federally recognized Indian 
tribes.
    Under the NEPA Assignment Program, the State of Texas was assigned 
the legal responsibility for making project NEPA decisions. In enacting 
Texas Transportation Code, Sec.  201.6035, the State has waived its 
sovereign immunity under the 11th Amendment of the U.S. Constitution 
and consents to Federal court jurisdiction for actions brought by its 
citizens for projects it has approved under the NEPA Assignment 
Program. As part of FHWA's oversight responsibility for the NEPA 
Assignment Program, FHWA is directed in 23 U.S.C. 327(g) to conduct 
semiannual audits during each of the first 2 years of State 
participation in the program; and audits annually for 2 subsequent 
years. The purpose of the audits is to assess a State's compliance with 
the provisions of the MOU as well as all applicable Federal laws and 
policies. The FHWA's review and oversight obligation entails the need 
to collect information to evaluate the success of the Project Delivery 
Program; to evaluate a State's progress toward achieving its 
performance measures as specified in the MOU; and to collect 
information for the administration of the NEPA Assignment Program. This 
report summarizes the results of the first audit.

Scope and Methodology

    The overall scope of this audit review is defined both in statute 
(23 U.S.C. 327) and the MOU (Part 11). An audit generally is defined as 
an official and careful examination and verification of accounts and 
records, especially of financial accounts, by an independent unbiased 
body. With regard to accounts or financial records, audits may follow a 
prescribed process or methodology and be conducted by ``auditors'' who 
have special training in those processes or methods. The FHWA considers 
this review to meet the definition of an audit because it is an 
unbiased, independent, official and careful examination and 
verification of records and information about TxDOT's assumption of 
environmental responsibilities.
    The diverse composition of the team, the process of developing the 
review report, and publishing it in the Federal Register help define 
this audit as unbiased and an official action taken by FHWA. To ensure 
a level of diversity and guard against unintended bias, the team 
consisted of NEPA subject matter experts from the FHWA Texas Division 
Office, as well as FHWA offices in Washington, DC, Atlanta, GA, 
Columbus, OH, and Baltimore, MD. All of these experts received training 
specific to evaluation of implementation of the NEPA Assignment 
Program. Aside from the NEPA experts, the team included a trainee from 
the Texas Division office and two individuals from FHWA's Program 
Management Improvement Team who provided technical assistance in 
conducting reviews. This audit team conducted a careful examination of 
highway project files and verified information on the TxDOT NEPA 
Assignment Program through inspection of other records and through 
interviews of TxDOT and other staff.
    Audits, as stated in the MOU (Parts 11.1.1 and 11.1.5), are the 
primary mechanism used by FHWA to oversee TxDOT's compliance with the 
MOU, ensure compliance with applicable Federal laws and policies, 
evaluate TxDOT's progress toward achieving the performance measures 
identified in the MOU (Part 10.2), and collect information needed for 
the Secretary's annual report to Congress. These audits also must be 
designed and conducted to evaluate TxDOT's technical competency and 
organizational capacity, adequacy of the financial resources committed 
by TxDOT to administer the responsibilities assumed, quality assurance/
quality control process, attainment of performance measures, compliance 
with the MOU requirements, and compliance with applicable laws and 
policies in administering the responsibilities assumed. The four 
performance measures identified in the MOU are (1) compliance with NEPA 
and other Federal environmental statutes and regulations, (2) quality 
control and quality assurance for NEPA decisions, (3) relationships 
with agencies and the general public, and (4) increased efficiency and 
timeliness and completion of the NEPA process.
    The scope of this audit included reviewing the processes and 
procedures used by TxDOT to reach and document project decisions. The 
intent of the review was to check that TxDOT has the

[[Page 50907]]

proper procedures in place to implement the MOU responsibilities 
assumed, ensure that the staff is aware of those procedures, and that 
the procedures are working appropriately to achieve NEPA compliance. 
The review is not intended to evaluate project-specific decisions as 
good or bad, or to second guess those decisions, as these decisions are 
the sole responsibility of TxDOT.
    The team gathered information that served as the basis for this 
audit from three primary sources: (1) TxDOT's response to a pre-audit 
information request, (2) a review of a random sample of project files 
with approval dates subsequent to the execution of the MOU, and (3) 
interviews with TxDOT, the Texas Historical Commission, and the USFWS 
staff. The pre-audit information request consisted of questions and 
requests for information focused on the following six topics: Program 
management, documentation and records management, quality assurance/
quality control, legal sufficiency review, performance measurement, and 
training. The team subdivided into working groups that focused on five 
of these topics. The legal sufficiency review was limited to 
consideration of material in TxDOT's response to the pre-audit 
information request.
    The team defined the timeframe for highway project environmental 
approvals subject to this first audit to be between December 2014 and 
February 2015. This initial focus on the first 3-4 months of TxDOT's 
assumption of NEPA responsibilities was intended to: (1) Assist TxDOT 
in start-up issues in the transition period where they assumed NEPA 
responsibilities for all highway projects, (2) follow an August 2014 
Categorical Exclusion (CE) monitoring review that generated expected 
corrective actions, and (3) allow the first audit report to be 
completed 6 months after the execution of the MOU. Based on monthly 
reports from TxDOT, the universe of projects subject to review 
consisted of 357 projects approved as CEs, 9 approvals to circulate an 
Environmental Assessment (EA), 4 findings of no significant impacts 
(FONSI), 3 re-evaluations of EAs, 2 Section 4(f) decisions, and 1 
approval of a draft environmental impact statement (EIS) project. The 
team selected a random sample of 57 CE projects sufficient to provide a 
90 percent confidence interval and reviewed project files for all 19 
approvals that were other than CEs (for a total of 76 files reviewed). 
Regarding interviews, the team's focus was on leadership in TxDOT's 
Environmental Affairs Division (ENV) Headquarters in Austin. Due to 
logistical challenges, the team could only interview a sample of 
environmental and leadership staff from TxDOT Districts focusing for 
this first audit on face-to-face interviews in Austin, Waco, and San 
Antonio and conference call interviews with Corpus Christi, Laredo, and 
Fort Worth Districts. The team plans to interview staff from at least 
18 TxDOT District offices by completion of the third audit. There are a 
total of 25 TxDOT Districts and the team anticipates covering all over 
the 5-year term of this MOU.

Overall Audit Opinion

    The team recognizes that TxDOT is still in the beginning stages of 
the NEPA Assignment Program and that its programs, policies, and 
procedures are in transition. The TxDOT's efforts are appropriately 
focused on establishing and refining policies and procedures; training 
staff; assigning and clarifying changed roles and responsibilities; and 
monitoring its compliance with assumed responsibilities. The team has 
determined that TxDOT has made reasonable progress in implementing the 
start-up phase of NEPA Assignment operations and believes TxDOT is 
committed to establishing a successful program. Our analysis of project 
file documentation and interview information found two non-compliance 
observations, several other observations, and noted ample evidence of 
good practice. The TxDOT has carried out the responsibilities it has 
assumed in keeping with the intent of the MOU and the Application and 
as such the team finds TxDOT to be in substantial compliance with the 
provisions of the MOU.
    The TxDOT's staff and management expressed a desire to receive 
constructive feedback from the team. By considering and acting upon the 
observations contained in this report, TxDOT should continue to improve 
upon carrying out its assigned responsibilities and ensure the success 
of its NEPA Assignment Program.

Non-Compliance Observations

    Non-compliance observations are instances of being out of 
compliance with a Federal regulation, statute, guidance, policy, TxDOT 
procedure, or the MOU. The FHWA expects TxDOT to develop and implement 
corrective actions to address all non-compliance observations. The 
TxDOT may consider implementing any recommendations made by FHWA to 
address non-compliance and other observations. The team acknowledges 
that TxDOT has already taken corrective actions to address these 
observations. The FHWA will conduct follow up reviews of the non-
compliance observations as part of Audit #2, and if necessary, future 
audits.
    The MOU (Part 3.1.1) states ``pursuant to 23 U.S.C. 327(a)(2)(A), 
on the Effective Date, FHWA assigns, and TxDOT assumes, subject to the 
terms and conditions set forth in 23 U.S.C. 327 and this MOU, all of 
the U.S. Department of Transportation (DOT) Secretary's 
responsibilities for compliance with the NEPA, 42 U.S.C. 4321 et seq. 
with respect to the highway projects specified under subpart 3.3. This 
includes statutory provisions, regulations, policies, and guidance 
related to the implementation of NEPA for Federal highway projects such 
as 23 U.S.C. 139, 40 CFR parts 1500-1508, DOT Order 5610.1C, and 23 CFR 
part 771 as applicable.''
Non-Compliance Observation #1
    The first non-compliance observation, in 1 of the 76 projects 
reviewed, pertained to FHWA policy in 23 CFR 771.105(d) that (1) 
``measures necessary to mitigate adverse impacts be incorporated into 
the action,'' and (2) ``the Administration will consider, among other 
factors, the extent to which the proposed measures would assist in 
complying with a federal statute, Executive Order, or Administration 
regulation or policy.'' The team identified a project whose description 
indicated that its purpose was to mitigate impacts of a larger project 
by constructing a noise abatement barrier. Classifying this project as 
a CE [23 CFR 771.117(c)(6)], that specifies the action as a separate 
noise abatement barrier mitigation project, does not comply with FHWA 
approved TxDOT 2011 Noise Guidelines. The TxDOT must have a program for 
Type II noise abatement projects in order to allow for the construction 
of a noise abatement barrier as a separate project (23 CFR 772.5). The 
TxDOT does not currently have such a program and, therefore, could not 
approve the noise abatement barrier as a separate project. Before 
approving any NEPA decision document, TxDOT should be knowledgeable of, 
and must apply, all applicable provisions of FHWA policy and 
regulation.
Non-Compliance Observation #2
    The second non-compliance observation is a project approved by 
TxDOT staff before all environmental requirements had been satisfied. 
Before TxDOT's approval, the project required a project-level air 
quality conformity determination pursuant to 40 CFR

[[Page 50908]]

93.121 and be consistent with the State Transportation Improvement 
Program (STIP). The TxDOT staff made a conditional NEPA approval (CE 
determination) on a project that, according to records, was not 
correctly listed in the STIP. The TxDOT then reported the approval to 
FHWA. The FHWA's policy in 23 CFR 771 is to coordinate compliance with 
all environmental requirements as a single process under NEPA. 
Conditional approvals do not comply with the FHWA NEPA policy because 
they have the effect of allowing a project to move to the next step of 
project development without satisfying all environmental requirements. 
Also, there is no authority in the MOU for TxDOT to make conditional 
approvals. There is a specific MOU requirement in Part 3.3.1 for a 
project to be consistent with the STIP. The team found evidence in ECOS 
that this project required a project-level air quality conformity 
determination. The responsibility for this determination was not 
assigned to TxDOT under the NEPA Assignment MOU, and FHWA subsequently 
made this determination. The team acknowledges this project was 
somewhat unusual as there was uncertainty at the Department as to 
whether the project was adding capacity requiring a Division Office 
conformity determination. Since that time, the Division Office has 
confirmed that such projects do add capacity and are subject to 
individual project level conformity. Where required, TxDOT needs to 
coordinate with the FHWA Texas Division Office staff to obtain a 
project-level air quality conformity determination before making a NEPA 
approval decision for a project.

Observations and Successful Practices

    This section summarizes the team's observations about issues or 
practices that TxDOT may want to consider as areas to improve as well 
as practices the team believes are successful that TxDOT may want to 
continue or expand in some manner. All six topic areas identified in 
FHWA's pre-audit information request are addressed here as separate 
discussions. Our report on legal sufficiency reviews is a description 
of TxDOT's current status as described in their response to the pre-
audit information request. The team will examine TxDOT's legal 
sufficiency reviews by project file inspection and through interviews 
in future audits.
    The team lists 16 observations below that we urge TxDOT to act upon 
to make improvements through one or more of the following: corrective 
action, targeted training, revising procedures, continued self-
assessment, or by some other means. The team acknowledges that by 
sharing this draft audit report with TxDOT, they have already 
implemented actions to address the observations to improve their 
program. The FHWA will consider the status of these observations as 
part of the scope of Audit #2. We will also include a summary 
discussion that describes progress since the last audit in the Audit #2 
report.

Program Management

    The team recognized four successful program management practices. 
First, it was evident through interviews that TxDOT has employed highly 
qualified staff for its program. Second, the team saw evidence of 
strong communication between TxDOT's ENV and District staff explaining 
roles and responsibilities associated with implementation of the MOU 
for NEPA Assignment. Third, based on the response to the pre-audit 
information request and from interviews, the team recognized efforts to 
create procedures, guidance, and tools to assist Districts in meeting 
requirements of the MOU. And finally, District staff understands and 
takes pride in ownership when making CE determinations. The ENV 
likewise takes pride in the responsibility for EA and Environmental 
Impact Statement (EIS) decision-making as well as oversight for the 
NEPA Assignment Program.
    The team found evidence of successful practices in information 
provided by TxDOT and through interviews. They learned of specific 
incidences where TxDOT has intentionally hired new personnel and 
reorganized existing staff to achieve a successful NEPA Assignment 
program. The TxDOT hired a Self-Assessment Branch (SAB) manager, a 
staff development manager (training coordinator), and an additional 
attorney to assist with NEPA Assignment responsibilities. The audit 
team recognizes the TxDOT ``Core Team'' concept (which provides joint 
ENV and District peer reviews for EAs and EISs only) as a good example 
of TxDOT utilizing their existing staff to analyze NEPA documents and 
correct compliance issues before finalization. Many Districts 
appreciate the efforts of the Core Team and credit them for assuring 
their projects are compliant. The ``NEPA Chat'' is another great 
example of TxDOT's intentional effort to achieve a compliant NEPA 
Assignment Program with enhanced communication among TxDOT 
environmental staff statewide. The NEPA Chat, led by ENV, provides a 
platform for complex issues to be discussed openly, and for Districts 
to learn about statewide NEPA Assignment Program issues. To date, the 
NEPA Chat has proven to be an effective vehicle to disseminate relevant 
NEPA information quickly and selectively to the TxDOT District 
Environmental Coordinators. Lastly, based on interviews and the 
response to the pre-audit information request, almost all the ENV and 
District staff feels there is sufficient staff to deliver a successful 
NEPA Assignment program. This is further supported by ENV's willingness 
to shift responsibilities to better align with the needs of the NEPA 
Assignment program. After interviewing the various Districts, they 
indicated that ENV is available to assist the Districts when they need 
help.
    The SAB fosters regular and productive communication with District 
staff. Based on reviews of project documentation, the SAB staff 
prepares and transmits a summary of their results, both positive and 
negative, and follows up via telephone with the District Environmental 
Coordinator responsible for the project. They provided this feedback 
within 2 weeks of their review, which results in early awareness of 
issues and corrective action, where necessary; as well as positive 
feedback when the project files appear to be in order. The creation of 
the pilot ``Risk Assessment'' tool (a ``smart pdf form'') for 
environmental documents is a successful, but optional procedure. When 
used, it helps Districts understand the resources to be considered, 
what resources should receive further analysis and documents District 
decisions. Even though this tool is not currently integrated within 
ECOS, it can be uploaded when used. The TxDOT noted that it had 
recently developed a Quality Assurance/Quality Control (QA/QC) 
Procedures for Environmental Documents Handbook (March 2015), and it is 
used by the Core Team to develop EA and EIS documents. Through its 
response to pre-audit questions and through interviews with various 
staff, TxDOT has demonstrated that it has provided a good base of 
tools, guidance, and procedures to assist in meeting the terms of the 
MOU and takes pride in exercising its assumed responsibilities.
    The team considers three observations as sufficiently important to 
urge TxDOT to consider improvements or corrective actions to project 
management in their NEPA Assignment Program.
Observation #1
    The CE review completed in August resulted in expectations to 
implement important updates to ECOS. The team found, however, that 
TxDOT has been slow to implement updates to ECOS.

[[Page 50909]]

These improvements would ensure that TxDOT's project records are 
complete and correct, utilizing the appropriate terms as cited in the 
MOU, law, regulation, or executive order. The team's ECOS related 
observations for improvement come from information provided by TxDOT 
and through interviews. Beginning with the monitoring review of CE 
projects completed in August 2014 the team identified the many 
accomplishments made by TxDOT to ensure ECOS meets the needs of users 
of this information. However, we also noted areas where necessary ECOS 
improvement had not yet happened. The team was told that due to 
outsourcing of many of TxDOT's IT services, the State was unable to 
complete improvements, due to other perceived priorities in the 
Department. The TxDOT interviewees indicated that a contract will soon 
be executed to accomplish needed changes, based on the CE monitoring 
report. Given the importance of ECOS as TxDOT's official file of record 
(for projects under implementation of the MOU) for the NEPA Assignment 
Program, and since obtaining IT contracting resources appears to be a 
challenge, the team urges TxDOT leadership to support timely and 
necessary updates to the ECOS system. The team recommends that the 
statement of work for the IT contract be sufficiently broad to 
implement all the required and necessary changes identified in both 
reviews.
Observation #2
    The team would like to draw the attention of TxDOT to issues and 
concerns arising from interaction with resource and regulatory 
agencies, especially in ways for TxDOT to address possible disputes and 
conflicts early and effectively. During interviews with both the TxDOT 
staff and resource agency staff, the team learned that there have been 
no conflicts between TxDOT and agencies. Despite no reported conflicts, 
agency staff reported issues of concern that they believed TxDOT was 
not addressing. Examples include: being kept in the loop on the 
decisions made by TxDOT, occasional quality concerns for information 
provided by TxDOT, and occasionally feeling rushed to review and 
process TxDOT projects. The team recognizes that good communication is 
a shared responsibility among the parties and suggests TxDOT consider 
ways to recognize and address disputes, issues, and concerns before 
they become conflicts.
Observation #3
    The team found indications from interviews that local public agency 
(LPA) projects do not receive the same scrutiny as TxDOT projects, 
despite TxDOT's project development and review process applying 
uniformly to all highway projects. Several District staff confirmed 
that LPA projects were reviewed no differently from TxDOT projects; 
others did not, which means TxDOT may need to consider ways to ensure 
its procedures are consistently applied, regardless of project sponsor. 
The team found the approach to developing and providing training for 
LPA sponsored projects to be a lower priority than for TxDOT projects.

Documentation and Records Management

    The team relied completely on information in ECOS, TxDOT's official 
file of record, to evaluate project documentation and records 
management. The ECOS is a tool for information recordation, management 
and curation, as well as for disclosure within TxDOT District Offices 
and between Districts and ENV. The strength of ECOS is its potential 
for adaptability and flexibility. The challenge for TxDOT is to 
maintain and update the ECOS operating protocols (for consistency of 
use and document/data location) and to educate its users on updates in 
a timely manner.
    Based on examination of the 76 files reviewed, the team identified 
4 general observations (#4, #5, #6, and #7) about TxDOT record keeping 
and documentation that could be improved or clarified. The team used a 
documentation checklist to verify and review the files of the 76 
sampled projects.
Observation #4
    The team was unable to confirm in 11 of the projects where 
environmental commitments may have needed to be recorded in an 
Environmental Permits Issues and Commitments (EPIC) plan sheet, that 
the commitments were addressed. All environmental commitments need to 
be recorded and incorporated in the project development process so they 
are documented and or implemented when necessary. If required 
environmental commitments are not recorded in an EPIC, those 
commitments would not be implemented. The TxDOT should evaluate whether 
its procedures to ensure that environmental commitments are both 
recorded and implemented is appropriate.
Observation #5
    The team found 7 of the 57 CE projects reviewed to lack sufficient 
project description detail to demonstrate that the category of CE 
action and any related conditions or constraints were met, in order to 
make a CE approval. The team performing the CE monitoring review 
completed in August 2014 made a similar observation where TxDOT 
indicated it would take corrective action. The particular project files 
included actions that could not be determined to be limited to the 
existing operational right-of-way (CE 23 CFR 771.117(c)22), or an 
action that utilizes less than $5 million of Federal funds (CE c23) or 
an action that met six environmental impact constraints before it could 
be applied (CEs c26, c27, c28). The documented compliance with 
environmental requirements prepared by TxDOT needs to support the CE 
action proposed and that any conditions or constraints have been met. 
The TxDOT should evaluate whether changes in ECOS and/or their 
procedures are necessary to ensure that project descriptions are 
recorded in sufficient detail to verify the appropriate CE action was 
approved.
Observation #6
    The team at times encountered difficulty finding information and 
found outdated terms in project files. Several project files included 
CE labels that are no longer valid (blanket categorical exclusion, 
BCE), but approvals for those project identified the appropriate CE 
action. Other files indicated that certain coordination had been 
completed, but the details of the letters or approvals themselves could 
not be located. In reviewing project records, the team occasionally 
encountered difficulty finding uploaded files because information 
occurred in different tabs within ECOS. Another source of confusion for 
the team was inconsistency in file naming (or an absence of a file 
naming convention) for uploaded files. Because of these difficulties 
the team could not determine whether a project file was incomplete or 
not. The audit team urges TxDOT to seek ways to establish procedures 
and organize ECOS to promote project records where information may be 
identified and assessed more easily.
Observation #7
    The team notes that most ECOS project records are for CEs, which 
may be difficult to disclose to the public. Based on interviews with 
TxDOT staff the team wondered how TxDOT would

[[Page 50910]]

disseminate information, such as technical reports, from ECOS as part 
of Public Involvement procedures. The ENV management has since 
explained that information will be provided upon request or at public 
meetings/hearings for a project.

Quality Assurance/Quality Control

    The team considers the QA/QC program to be generally in compliance 
with the provisions of TxDOT's QA/QC Plan. However, TxDOT has yet to 
apply the SAB program-level review for EA and EIS projects and the lack 
of data from these types of projects means the team at this time cannot 
fully evaluate the effectiveness of the program for these types of 
projects. The team learned that TxDOT's SAB is still developing 
standards and training for implementation.
    The team recognized four areas of successful practices in TxDOT's 
approach to QA/QC. First, TxDOT's use of a Core Team and its 
development and usage of QA/QC checklists and toolkits are effective 
and appear to result in a more standardized internal review process. 
The TxDOT QA/QC Plan states that a Core Team, composed of a District 
Environmental Coordinator and one individual from ENV, will be formed 
for every EA and EIS project. The QA/QC Plan states that Toolkits, 
Administrative Completeness Reviews and Determinations, Review for 
Readiness, and Certification forms will be utilized to ensure quality 
documents and compliance with NEPA laws and regulations.
    Second, the team learned through interviews that TxDOT's SAB review 
process has resulted in very timely and helpful feedback to District 
staff. The team was told that feedback from SAB team reviews is 
generally communicated within 2 weeks of the NEPA documentation 
completion date. District staff said that they appreciate the feedback 
that helps to ensure they are following procedures and guidelines. The 
TxDOT also established a ``Corrective Action Team'' (CAT) that aids in 
the SAB team's effectiveness. The CAT is responsible for determining if 
findings from SAB reviews are systematic or confined to a certain area 
or individual. The CAT is in place to ensure issues found by SAB review 
are resolved.
    Third, the team was told that some District staff developed their 
own QA/QC tools and processes for CEprojects (i.e. smart PDF forms, 
peer reviews, and a two signature approval process) that have led to 
fewer errors.
    Fourth, TxDOT's SAB and CAT recently implemented peer reviews for 
forms, guidance, and handbooks that should lead to the reduction of 
improper documentation and need for revisions. The SAB and CAT team 
work together with ENV subject matter experts to update forms, 
guidance, and handbooks in three locations (ENV internal server, 
internal ENV Web page, and external TxDOT Web site). The ENV has 
strongly encouraged the Districts to go to the appropriate location 
before starting a new document to ensure they are using the most up to 
date version of all forms. The end result of the form peer review 
process should result in fewer errors and more consistency in NEPA 
documentation.
    The team considers three observations as sufficiently important to 
urge TxDOT to consider improvements or corrective actions to their 
approach to QA/QC.
Observation #8
    The team learned through interviews that no EA or EIS projects had 
been reviewed by the SAB and there was no agreed upon timeline for the 
completion of SAB guidelines or standards. This is due to the standards 
for SAB reviews of EA and EIS documents not yet being established, and 
to the fact only four FONSIs were made on EAs at the time of the team's 
ECOS project file review. The team acknowledges that TxDOT conducts QA/
QC for EA and EIS projects and urges TxDOT to complete and apply their 
SAB approach in a timely manner.
Observation #9
    The team learned through interviews that there is no established 
project sampling methodology for self-assessing TxDOT's effectiveness 
of their standards and guidance. While TxDOT employs sampling, the team 
could not find information that described how TxDOT assessed that they 
evaluated a sufficient number of projects. Through our interviews with 
SAB staff the team learned that there have been several approaches to 
conducting reviews of the CEs completed since the NEPA Assignment 
Program. Before the NEPA Assignment Program began, the SAB team 
reviewed 100 percent of CE files. Then between December 2014, and 
February 2015, SAB reviews were a grab sample of 11 files each week. 
Eight were partial project reviews that focused on certain project 
types. The remaining three reviews were of complete project files for 
new CE categories (c22 and c23's). Since February 2015, the SAB team 
has reviewed only the CE Documentation Form in project files. The team 
was unable to determine whether TxDOT staff had a basis to assert that 
its process was working as intended and that they could adequately 
identify areas needing improvement. The TxDOT needs to better assess 
the effectiveness of its QA/QC approach (a performance measure that it 
must report on) by clarifying its review approach, recording 
justifications for decisions TxDOT makes on how often project records 
are evaluated, and what specifically is reviewed.
Observation #10
    The team learned that TxDOT District staff does not have a clear 
and consistent understanding of what distinguishes ``quality 
assurance'' and ``quality control'' and ``self-assessment'' with 
regards to expectations for reviews necessary to reach a NEPA decision 
versus feedback once a decision was made. From interviews with District 
and ENV staff, the team found staff was unclear about the role and 
responsibility of the SAB and the CAT. Several District managers said 
that they had not seen the QA/QC feedback on projects in their District 
and were not sure if their staff had received comments from the SAB or 
the CAT. The TxDOT should evaluate whether they need to clarify 
expectations for receiving review comments before and after NEPA 
decisionmaking to District staff.

Legal Sufficiency Review

    During this audit period FHWA attorneys delivered a legal 
sufficiency training for the benefit of the TxDOT attorneys. The team 
did not perform analyses of this topic area during this audit. However, 
the team noted that TxDOT developed a set of Standard Operating 
Procedures for Legal Sufficiency Review. The process is also described 
in ENV's Project Delivery Manual, an internal document of processes and 
procedures used by project delivery staff. The TxDOT's Office of 
General Counsel tracks legal review requests and their status by 
keeping a log.
    According to TxDOT's project delivery manual, four attorneys are 
available for legal reviews. Additional legal assistance may be 
requested by TxDOT to the Transportation Division of the Office of the 
Texas Attorney General. These attorneys would, as part of their review 
responsibilities, provide written comments and suggestions (when 
necessary) to TxDOT ENV to help ensure a document's legal sufficiency. 
They would also be available to discuss questions or issues. Once the 
reviewing attorney is satisfied that staff has addressed his or her 
comments/suggestions to the maximum extent reasonably practicable, the 
reviewing attorney will provide TxDOT ENV with

[[Page 50911]]

written documentation that the legal sufficiency review is complete.
    The TxDOT ENV has indicated it will not finalize a Final 
Environmental Impact Statement, individual Section 4(f) evaluation, 
Notice of Intent, or 139(l) Notice before receiving written 
documentation that the legal sufficiency review is complete. The team 
was informed that, at the discretion of TxDOT ENV, EAs may be reviewed 
for legal sufficiency. If additional reviews are needed, the type and 
scope of an additional review would be determined by TxDOT ENV on a 
case-by-case basis.

Performance Measurement

    The purpose of performance measures is explained in the MOU (Part 
10). Four performance measures were mutually agreed upon by FHWA and 
TxDOT so that FHWA can take them into account in its evaluation of 
TxDOT's administration of the responsibilities it has assumed under the 
MOU. These measures provide an overall indication of TxDOT's discharge 
of its MOU responsibilities. In collecting data related to the 
reporting on the performance measures, TxDOT monitors its overall 
progress in meeting the targets of those measures and includes this 
data in self-assessments provided under the MOU (Part 8.2.5). The four 
performance measures are: (1) Compliance with NEPA and other Federal 
environmental statutes and regulations, (2) quality control and 
assurance for NEPA decisions, (3) relationships with agencies and the 
general public, and (4) increased efficiency and timeliness in 
completion of the NEPA process.
    The TxDOT is gathering performance baseline data and testing data 
collection techniques designed to inform the performance measure 
metrics that will be reported. The TxDOT intends, according to 
information provided in their response to pre-audit information 
questions, to begin reporting on performance measures with the 
submittal of the next self-assessment summary report. This report is 
expected in September 2015.
    Developing baseline measures is an important part of establishing a 
performance measure program. The team learned in interviews that 
TxDOT's QA/QC process includes procedures to ensure that each 
performance measure has begun with the careful vetting (by following up 
with individuals in Districts) of data used to develop the baseline 
measures for performance timeliness. This process should contribute to 
the validity of the measures. The TxDOT staff explained in interviews 
that the primary sources of information for overall performance measure 
baselines are District records and ECOS records.
    The TxDOT staff stated that they are considering a variety of 
performance measurements in addition to measures identified in their 
response to the pre-audit information request. The audit team 
recognizes that developing meaningful measures for this program is 
difficult. However, the audit team encourages TxDOT staff to continue 
to explore innovative ways to measure performance. (For example, one 
interviewee described statistical and visual methods to report the 
performance measure of timeliness this way: ``We will calculate all the 
statistical numbers. We will look at median and look at cluster around 
the median. It will likely result in a visual analysis of the data (box 
plot with outliers, measures of central tendency).'')
Observation #11
    The TxDOT reports in their response to the pre-audit information 
request that the QA/QC measure for NEPA decisions focuses only on EA 
and EIS projects, but not decisions related to CEs and other specific 
NEPA-related issues. Many decisions are tied to NEPA including 
important ones such as decisions on Section 4f (identification of 
properties, consideration of use, consideration of prudent and feasible 
avoidance alternatives) and re-evaluations (whether the outcome was 
adequately supported and is still valid). In applying this performance 
measure, the team urges TxDOT consider evaluating a broader range of 
decisions.
Observation #12
    The team recognizes that TxDOT is still in the very early stages of 
applying its performance measures. Based on information gained in the 
pre-audit request and through interviews, more information on 
performance measures and their verification may need to be presented 
before the utility of such measures can be evaluated for audit 
purposes. The performance measure for compliance with NEPA and other 
Federal requirements for EA and EIS projects have yet to be fully 
defined. The performance measurement plan indicated that TxDOT would 
conduct agency polls to determine the measure for relationships with 
agencies and the general public, but little detail was provided as to 
what polls would be conducted and verified. The team also was concerned 
that the measure for the TxDOT relationship with the public may be too 
limited by focusing on the number of complaints. Such ``negative 
confirmation'' monitoring tends to be used when the underlying system 
or process under evaluation is known to have low levels of errors or 
problems. Given that NEPA assumption is new to TxDOT, such practice 
does not appear to be appropriate for gauging effectiveness at this 
time.

Training Program

    The team reviewed TxDOT's initial training plan provided in the 
response to the pre-audit information request and evaluated its 
contents and adequacy through interviews of ENV and District staff. 
Based on information gained, TxDOT staff should consider the following 
issues and questions in preparing the annual update of their training 
plan, as required in the MOU. The team found the training plan 
compliant.
    The team recognizes two successful practices. First, FHWA 
recognizes that TxDOT's largest venue for training is its annual 
environmental conference. This annual gathering of Federal, State, and 
local agency employees as well as consultants, in a context of 
fellowship (400+ attendees), addresses a wide array of environmental 
topics that reinforce existing and new environmental policies and 
procedures. The presentations at the conference are usually no longer 
than 1- hour per topic, but on some occasions does provide more in 
depth training. The team encourages the continuation of the conference.
    Second, the ``NEPA Chat'' is a monthly ENV-led web-based learning/
exchange opportunity for TxDOT environmental employees statewide. It is 
a venue for them to receive updated news and announcements, exchange 
ideas and is a forum for routine communication among Districts and ENV. 
This informal training venue is versatile, flexible, and responsive to 
the need to communicate information that should improve the consistency 
of statewide NEPA Assignment practices.
    The team considers four observations as sufficiently important to 
urge TxDOT to consider improvements or corrective actions to their 
approach to the training program. The FHWA recognizes that TxDOT's 
assumption of Federal environmental responsibilities and liabilities is 
new and involves tasks not previously performed or familiar to its 
staff. This is the reason why training is a component of a State's 
qualifications and readiness to assume FHWA's responsibilities and is 
addressed in a separate section in the MOU (Part 12).

[[Page 50912]]

Observation #13
    The team identified a concern about TxDOT's approach to training 
and its training plan. Information gained in interviews indicated that 
the initial TxDOT training plan relied heavily on a training model 
employed by the California Department of Transportation (Caltrans), 
because Caltrans is the only State that has assumed NEPA 
responsibilities for the entire highway program. The FHWA does not 
believe the Caltrans training model can replicate its current form to 
meet the needs of TxDOT, because TxDOT has fewer NEPA staff, State 
environmental laws that differ in scope, and a different business 
``culture.'' There are other States (Idaho, Michigan, North Dakota, 
Ohio, and Wyoming) that have established training plans that TxDOT 
could draw upon as examples. These examples may benefit TxDOT and TxDOT 
should consider evaluating components of these State's training plans 
in their future annual updates of their own training plan.
Observation #14
    The team found evidence that some aspects of training tasks were 
either unattended and/or appear to have been forgotten based on the 
training plan information provided to the team. The TxDOT has a section 
of their Web site devoted to training, that the team learned from 
interviews, is out of date. Some courses are no longer taught and 
several classes are in need of updating, all of which provided for 
training of non-TxDOT staff (i.e. local governments and consultants). 
The team urges TxDOT to assess whether the proposed training approach 
for non-TxDOT staff (relying heavily upon the annual environmental 
conference) is adequate and responsive enough to address a need to 
quickly disseminate newly developed procedures and policy.
Observation #15
    The TxDOT training plan is currently silent on whether certain 
subjects and topics are mandatory or required for certain job 
responsibilities. The TxDOT staff told the team they would be 
developing a ``progressive training plan'' that will identify the range 
of training necessary for each job classification. District 
Environmental Coordinators, and particularly District managers who 
allocated training resources, indicated in interviews that they needed 
to know which training was required for various TxDOT job categories, 
to set budgeting priorities. The team recognized the important 
connection between getting District staff trained and a clear statement 
whether training was required for a certain job. Due to the connection 
potentially being tenuous, this may explain the inconsistency the team 
heard in interview responses to questions on training commitments from 
District managers. The team suggests that the progressive training plan 
clearly identify training required for each job classification.
Observation #16
    From the perspective of the MOU, training planning and 
implementation is a partnership effort amongst TxDOT, FHWA, and other 
agencies. Training should be an ongoing task that follows an up-to-date 
and mid-to-long range training plan. The current training plan includes 
mostly TxDOT self-identified training needs and addresses those needs. 
The MOU (Part 12.2) allows for 3 months after the MOU is executed, to 
develop a training plan in consultation with FHWA and other agencies. 
The TxDOT has committed in the MOU to consider the recommendations of 
agencies in determining training needs, and to determine with FHWA, the 
required training in the training plan MOU (Part 12.2). The TxDOT 
considered and will address the specific comments from the U.S. Army 
Corps of Engineers in the current training plan. However, the team 
learned through interviews that individuals responsible for training 
planning were unaware of the coordination between TxDOT subject matter 
experts and other agencies related to training. It may be useful for 
the TxDOT training coordinator to be fully involved and aware of the 
range of coordination other TxDOT staff performs so that the training 
plan benefits from this coordination.

Next Steps

    The FHWA provided this draft audit report to TxDOT for a 14-day 
review and comment period. The team has considered TxDOT comments in 
developing this draft audit report. As the next step, FHWA will publish 
a notice in the Federal Register to make it available to the public and 
for a 30-day comment period review [23 U.S.C. 327(g)]. No later than 60 
days after the close of the comment period, FHWA will respond to all 
comments submitted in finalizing this draft audit report [pursuant to 
23 U.S.C. 327(g)(B)]. Once finalized, the audit report will be 
published in the Federal Register.

[FR Doc. 2015-20733 Filed 8-20-15; 8:45 am]
 BILLING CODE 4910-22-P



                                                                             Federal Register / Vol. 80, No. 162 / Friday, August 21, 2015 / Notices                                             50905

                                               DEPARTMENT OF TRANSPORTATION                            FOR FURTHER INFORMATION CONTACT:     Dr.              requires the Secretary to conduct
                                                                                                       Owen Lindauer, Office of Project                      semiannual audits during each of the
                                               Federal Highway Administration                          Development and Environmental                         first 2 years of State participation, and
                                                                                                       Review, (202) 366–2655,                               annual audits during each subsequent
                                               [FHWA Docket No. FHWA–2015–0017]
                                                                                                       owen.lindauer@dot.gov, or Mr. Jomar                   year of State participation to ensure
                                               Surface Transportation Project                          Maldonado, Office of the Chief Counsel,               compliance by each State participating
                                               Delivery Program; TxDOT Audit Report                    (202) 366–1373, jomar.maldonado@                      in the Program. The results of each audit
                                                                                                       dot.gov, Federal Highway                              must be presented in the form of an
                                               AGENCY: Federal Highway                                 Administration, Department of                         audit report and be made available for
                                               Administration (FHWA), DOT.                             Transportation, 1200 New Jersey                       public comment. This notice announces
                                               ACTION: Notice; request for comment.                    Avenue SE., Washington, DC 20590.                     the availability of the first audit report
                                                                                                       Office hours are from 8:00 a.m. to 4:30               for TxDOT and solicits public comment
                                               SUMMARY:    Section 1313 of the Moving                  p.m., e.t., Monday through Friday,                    on same.
                                               Ahead for Progress in the 21st Century                  except Federal holidays.                                Authority: 23 U.S.C. 327; 49 CFR 1.48.
                                               Act (MAP–21) established the                            SUPPLEMENTARY INFORMATION:
                                               permanent Surface Transportation                                                                                Issued on: August 14, 2015.
                                               Project Delivery Program that allows a                  Electronic Access                                     Gregory G. Nadeau,
                                               State to assume FHWA’s environmental                      An electronic copy of this notice may               Administrator, Federal Highway
                                               responsibilities for review, consultation,              be downloaded from the specific docket                Administration.
                                               and compliance for Federal highway                      page at www.regulations.gov.                          DRAFT—Surface Transportation
                                               projects. This section mandates                                                                               Project Delivery Program FHWA Audit
                                                                                                       Background
                                               semiannual audits during each of the                                                                          of the Texas Department of
                                               first 2 years of State participation to                    Congress proposed and the President
                                                                                                       signed into law, MAP–21 Section 1313,                 Transportation December 16, 2014, and
                                               ensure compliance by each State                                                                               June 16, 2015
                                               participating in the Program. When a                    establishing the Surface Transportation
                                               State assumes these Federal                             Project Delivery Program that allows a                Executive Summary
                                               responsibilities, the State becomes                     State to assume FHWA’s environmental
                                                                                                       responsibilities for review, consultation,               This is the first audit conducted by a
                                               solely responsible and liable for                                                                             team of Federal Highway
                                               carrying out the responsibilities it has                and compliance for Federal highway
                                                                                                       projects. This provision has been                     Administration (FHWA) staff of the
                                               assumed, in lieu of FHWA. This notice                                                                         performance of the Texas Department of
                                               announces and solicits comments on the                  codified at 23 U.S.C. 327. When a State
                                                                                                       assumes these Federal responsibilities,               Transportation (TxDOT) regarding
                                               first audit report for the Texas                                                                              responsibilities and obligations assigned
                                               Department of Transportation (TxDOT).                   the State becomes solely responsible
                                                                                                       and liable for carrying out the                       under a memorandum of understanding
                                               DATES: Comments must be received on                                                                           (MOU) whose term began on December
                                                                                                       responsibilities it has assumed, in lieu
                                               or before September 21, 2015.                           of FHWA. This permanent program                       16, 2014. From that date, TxDOT
                                               ADDRESSES: Mail or hand deliver                         follows a pilot program established by                assumed FHWA’s National
                                               comments to Docket Management                           Section 6005 of the Safe, Accountable,                Environmental Policy Act (NEPA)
                                               Facility: U.S. Department of                            Flexible, Efficient Transportation Equity             responsibilities and liabilities for the
                                               Transportation, 1200 New Jersey                         Act: A Legacy for Users, where the State              Federal-aid highway program funded
                                               Avenue SE., Room W12–140,                               of California assumed FHWA’s                          projects in Texas (NEPA Assignment
                                               Washington, DC 20590. You may also                      environmental responsibilities (from                  Program) and FHWA’s environmental
                                               submit comments electronically at                       June 29, 2007). The TxDOT published                   role is now limited to program oversight
                                               www.regulations.gov. All comments                       its application for assumption under the              and review. The FHWA audit team
                                               should include the docket number that                   National Environmental Policy Act                     (team) was formed in January 2015 and
                                               appears in the heading of this                          (NEPA) Assignment Program on March                    met regularly to prepare for conducting
                                               document. All comments received will                    14, 2014, at Texas Register 39(11):1992               the audit. Prior to the on-site visit, the
                                               be available for examination and                        and made it available for public                      team performed reviews of TxDOT
                                               copying at the above address from 9                     comment for 30 days. After considering                project file NEPA documentation in the
                                               a.m. to 5 p.m., e.t., Monday through                    public comments, TxDOT submitted its                  Environmental Compliance Oversight
                                               Friday, except Federal holidays. Those                  application to FHWA on May 29, 2014.                  System (ECOS, TxDOT’s official project
                                               desiring notification of receipt of                     The application served as the basis for               filing system), examined the TxDOT
                                               comments must include a self-                           developing the memorandum of                          pre-audit information response, and
                                               addressed, stamped postcard or you                      understanding (MOU) that identifies the               developed interview questions. The on-
                                               may print the acknowledgment page                       responsibilities and obligations TxDOT                site portion of this audit, when all
                                               that appears after submitting comments                  would assume. The FHWA published a                    TxDOT and other agency interviews
                                               electronically. Anyone is able to search                notice of the draft of the MOU in the                 were performed, was conducted
                                               the electronic form of all comments in                  Federal Register on October 10, 2014, at              between April 13 and 17, 2015.
                                               any one of our dockets by the name of                   79 FR 61370 with a 30-day comment                        As part of its review responsibilities
                                               the individual submitting the comment                   period to solicit the views of the public             specified in 23 U.S.C. 327, the team
                                               (or signing the comment, if submitted                   and Federal agencies. After the close of              planned and conducted an audit of
                                               on behalf of an association, business, or               the comment period FHWA and TxDOT                     TxDOT’s responsibilities assumed
rmajette on DSK7SPTVN1PROD with NOTICES




                                               labor union). The DOT posts these                       considered comments and proceeded to                  under the MOU. The TxDOT is still in
                                               comments, without edit, including any                   execute the MOU. Since December 16,                   the transition of preparing and
                                               personal information the commenter                      2014, TxDOT has assumed FHWA’s                        implementing procedures and processes
                                               provides, to www.regulations.gov, as                    responsibilities under NEPA, and the                  required for the NEPA Assignment. It
                                               described in the system of records                      responsibilities for the NEPA-related                 was evident that TxDOT has made
                                               notice (DOT/ALL–14 FDMS), which can                     Federal environmental laws. Section                   reasonable progress in implementing the
                                               be reviewed at www.dot.gov/privacy.                     327(g) of Title 23, United States Code,               start-up phase of the NEPA Assignment


                                          VerDate Sep<11>2014   15:07 Aug 20, 2015   Jkt 235001   PO 00000   Frm 00087   Fmt 4703   Sfmt 4703   E:\FR\FM\21AUN1.SGM   21AUN1


                                               50906                         Federal Register / Vol. 80, No. 162 / Friday, August 21, 2015 / Notices

                                               Program and that overall the team found                 responsibilities for the NEPA-related                 verification of records and information
                                               evidence that TxDOT is committed to                     Federal environmental laws. These are                 about TxDOT’s assumption of
                                               establishing a successful program. This                 responsibilities for (among a list of other           environmental responsibilities.
                                               report provides the team’s assessment of                regulatory interactions) the Endangered                  The diverse composition of the team,
                                               the current status of several aspects of                Species Act, Section 7 consultations                  the process of developing the review
                                               the NEPA Assignment Program,                            with the U.S. Fish and Wildlife Service               report, and publishing it in the Federal
                                               including successful practices and 16                   (USFWS) and the National Oceanic and                  Register help define this audit as
                                               observations that represent                             Atmospheric Administration National                   unbiased and an official action taken by
                                               opportunities for TxDOT to improve                      Marine Fisheries Service, and Section                 FHWA. To ensure a level of diversity
                                               their program. The team identified two                  106 consultations regarding impacts to                and guard against unintended bias, the
                                               non-compliance observations that                        historic properties. Two Federal                      team consisted of NEPA subject matter
                                               TxDOT will need to address as                           responsibilities were not assigned to                 experts from the FHWA Texas Division
                                               corrective actions in their self-                       TxDOT and remain with FHWA: (1)                       Office, as well as FHWA offices in
                                               assessment report.                                      Making project-level conformity                       Washington, DC, Atlanta, GA,
                                                 The TxDOT has carried out the                         determinations under the Federal Clean                Columbus, OH, and Baltimore, MD. All
                                               responsibilities it has assumed in                      Air Act and (2) conducting government                 of these experts received training
                                               keeping with the intent of the MOU and                  to government consultation with                       specific to evaluation of implementation
                                               the Application. The team finds TxDOT                   federally recognized Indian tribes.                   of the NEPA Assignment Program.
                                               to be in substantial compliance with the                   Under the NEPA Assignment                          Aside from the NEPA experts, the team
                                               provisions of the MOU. By addressing                    Program, the State of Texas was                       included a trainee from the Texas
                                               the observations in this report, TxDOT                  assigned the legal responsibility for                 Division office and two individuals
                                               will continue to move the program                       making project NEPA decisions. In                     from FHWA’s Program Management
                                               toward success.                                         enacting Texas Transportation Code,                   Improvement Team who provided
                                                                                                       § 201.6035, the State has waived its                  technical assistance in conducting
                                               Background
                                                                                                       sovereign immunity under the 11th                     reviews. This audit team conducted a
                                                 Congress proposed and the President                   Amendment of the U.S. Constitution                    careful examination of highway project
                                               signed into law, the Moving Ahead for                   and consents to Federal court                         files and verified information on the
                                               Progress in the 21st Century Act (MAP–                  jurisdiction for actions brought by its               TxDOT NEPA Assignment Program
                                               21) Section 1313, that established the                  citizens for projects it has approved                 through inspection of other records and
                                               Surface Transportation Project Delivery                 under the NEPA Assignment Program.                    through interviews of TxDOT and other
                                               Program that allows a State to assume                   As part of FHWA’s oversight                           staff.
                                               FHWA’s environmental responsibilities                   responsibility for the NEPA Assignment                   Audits, as stated in the MOU (Parts
                                               for review, consultation, and                           Program, FHWA is directed in 23 U.S.C.                11.1.1 and 11.1.5), are the primary
                                               compliance for Federal highway                          327(g) to conduct semiannual audits                   mechanism used by FHWA to oversee
                                               projects. This section is codified at 23                during each of the first 2 years of State             TxDOT’s compliance with the MOU,
                                               U.S.C. 327. When a State assumes these                  participation in the program; and audits              ensure compliance with applicable
                                               Federal responsibilities, the State                     annually for 2 subsequent years. The                  Federal laws and policies, evaluate
                                               becomes solely responsible and liable                   purpose of the audits is to assess a                  TxDOT’s progress toward achieving the
                                               for carrying out the responsibilities it                State’s compliance with the provisions                performance measures identified in the
                                               has assumed, in lieu of FHWA. This                      of the MOU as well as all applicable                  MOU (Part 10.2), and collect
                                               permanent program follows a pilot                       Federal laws and policies. The FHWA’s                 information needed for the Secretary’s
                                               program established by Section 6005 of                  review and oversight obligation entails               annual report to Congress. These audits
                                               the Safe, Accountable, Flexible,                        the need to collect information to                    also must be designed and conducted to
                                               Efficient Transportation Equity Act: A                  evaluate the success of the Project                   evaluate TxDOT’s technical competency
                                               Legacy for Users (SAFETEA–LU), where                    Delivery Program; to evaluate a State’s               and organizational capacity, adequacy
                                               the State of California assumed FHWA’s                  progress toward achieving its                         of the financial resources committed by
                                               environmental responsibilities (from                    performance measures as specified in                  TxDOT to administer the
                                               June 29, 2007).                                         the MOU; and to collect information for               responsibilities assumed, quality
                                                 The TxDOT published its application                   the administration of the NEPA                        assurance/quality control process,
                                               for assumption under the NEPA                           Assignment Program. This report                       attainment of performance measures,
                                               Assignment Program on March 14, 2014,                   summarizes the results of the first audit.            compliance with the MOU
                                               and made it available for public                                                                              requirements, and compliance with
                                               comment for 30 days. After considering                  Scope and Methodology                                 applicable laws and policies in
                                               public comments, TxDOT submitted its                       The overall scope of this audit review             administering the responsibilities
                                               application to FHWA on May 29, 2014.                    is defined both in statute (23 U.S.C. 327)            assumed. The four performance
                                               The application served as the basis for                 and the MOU (Part 11). An audit                       measures identified in the MOU are (1)
                                               developing the MOU that identifies the                  generally is defined as an official and               compliance with NEPA and other
                                               responsibilities and obligations TxDOT                  careful examination and verification of               Federal environmental statutes and
                                               would assume. The FHWA published a                      accounts and records, especially of                   regulations, (2) quality control and
                                               notice of the draft of the MOU in the                   financial accounts, by an independent                 quality assurance for NEPA decisions,
                                               Federal Register on October 10, 2014, at                unbiased body. With regard to accounts                (3) relationships with agencies and the
                                               79 FR 61370, with a 30-day comment                      or financial records, audits may follow               general public, and (4) increased
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                                               period to solicit the views of the public               a prescribed process or methodology                   efficiency and timeliness and
                                               and Federal agencies. After the close of                and be conducted by ‘‘auditors’’ who                  completion of the NEPA process.
                                               the comment period FHWA and TxDOT                       have special training in those processes                 The scope of this audit included
                                               considered comments and proceeded to                    or methods. The FHWA considers this                   reviewing the processes and procedures
                                               execute the MOU. Since December 16,                     review to meet the definition of an audit             used by TxDOT to reach and document
                                               2014, TxDOT has assumed FHWA’s                          because it is an unbiased, independent,               project decisions. The intent of the
                                               responsibilities under NEPA, and the                    official and careful examination and                  review was to check that TxDOT has the


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                                                                             Federal Register / Vol. 80, No. 162 / Friday, August 21, 2015 / Notices                                          50907

                                               proper procedures in place to                           Affairs Division (ENV) Headquarters in                address these observations. The FHWA
                                               implement the MOU responsibilities                      Austin. Due to logistical challenges, the             will conduct follow up reviews of the
                                               assumed, ensure that the staff is aware                 team could only interview a sample of                 non-compliance observations as part of
                                               of those procedures, and that the                       environmental and leadership staff from               Audit #2, and if necessary, future
                                               procedures are working appropriately to                 TxDOT Districts focusing for this first               audits.
                                               achieve NEPA compliance. The review                     audit on face-to-face interviews in                     The MOU (Part 3.1.1) states ‘‘pursuant
                                               is not intended to evaluate project-                    Austin, Waco, and San Antonio and                     to 23 U.S.C. 327(a)(2)(A), on the
                                               specific decisions as good or bad, or to                conference call interviews with Corpus                Effective Date, FHWA assigns, and
                                               second guess those decisions, as these                  Christi, Laredo, and Fort Worth                       TxDOT assumes, subject to the terms
                                               decisions are the sole responsibility of                Districts. The team plans to interview                and conditions set forth in 23 U.S.C. 327
                                               TxDOT.                                                  staff from at least 18 TxDOT District                 and this MOU, all of the U.S.
                                                  The team gathered information that                   offices by completion of the third audit.             Department of Transportation (DOT)
                                               served as the basis for this audit from                 There are a total of 25 TxDOT Districts               Secretary’s responsibilities for
                                               three primary sources: (1) TxDOT’s                      and the team anticipates covering all                 compliance with the NEPA, 42 U.S.C.
                                               response to a pre-audit information                     over the 5-year term of this MOU.                     4321 et seq. with respect to the highway
                                               request, (2) a review of a random sample                                                                      projects specified under subpart 3.3.
                                               of project files with approval dates                    Overall Audit Opinion                                 This includes statutory provisions,
                                               subsequent to the execution of the                         The team recognizes that TxDOT is                  regulations, policies, and guidance
                                               MOU, and (3) interviews with TxDOT,                     still in the beginning stages of the NEPA             related to the implementation of NEPA
                                               the Texas Historical Commission, and                    Assignment Program and that its                       for Federal highway projects such as 23
                                               the USFWS staff. The pre-audit                          programs, policies, and procedures are                U.S.C. 139, 40 CFR parts 1500–1508,
                                               information request consisted of                        in transition. The TxDOT’s efforts are                DOT Order 5610.1C, and 23 CFR part
                                               questions and requests for information                  appropriately focused on establishing                 771 as applicable.’’
                                               focused on the following six topics:                    and refining policies and procedures;
                                                                                                       training staff; assigning and clarifying              Non-Compliance Observation #1
                                               Program management, documentation
                                               and records management, quality                         changed roles and responsibilities; and                  The first non-compliance observation,
                                               assurance/quality control, legal                        monitoring its compliance with                        in 1 of the 76 projects reviewed,
                                               sufficiency review, performance                         assumed responsibilities. The team has                pertained to FHWA policy in 23 CFR
                                               measurement, and training. The team                     determined that TxDOT has made                        771.105(d) that (1) ‘‘measures necessary
                                               subdivided into working groups that                     reasonable progress in implementing the               to mitigate adverse impacts be
                                               focused on five of these topics. The legal              start-up phase of NEPA Assignment                     incorporated into the action,’’ and (2)
                                               sufficiency review was limited to                       operations and believes TxDOT is                      ‘‘the Administration will consider,
                                               consideration of material in TxDOT’s                    committed to establishing a successful                among other factors, the extent to which
                                               response to the pre-audit information                   program. Our analysis of project file                 the proposed measures would assist in
                                               request.                                                documentation and interview                           complying with a federal statute,
                                                  The team defined the timeframe for                   information found two non-compliance                  Executive Order, or Administration
                                               highway project environmental                           observations, several other observations,             regulation or policy.’’ The team
                                               approvals subject to this first audit to be             and noted ample evidence of good                      identified a project whose description
                                               between December 2014 and February                      practice. The TxDOT has carried out the               indicated that its purpose was to
                                               2015. This initial focus on the first 3–                responsibilities it has assumed in                    mitigate impacts of a larger project by
                                               4 months of TxDOT’s assumption of                       keeping with the intent of the MOU and                constructing a noise abatement barrier.
                                               NEPA responsibilities was intended to:                  the Application and as such the team                  Classifying this project as a CE [23 CFR
                                               (1) Assist TxDOT in start-up issues in                  finds TxDOT to be in substantial                      771.117(c)(6)], that specifies the action
                                               the transition period where they                        compliance with the provisions of the                 as a separate noise abatement barrier
                                               assumed NEPA responsibilities for all                   MOU.                                                  mitigation project, does not comply
                                               highway projects, (2) follow an August                     The TxDOT’s staff and management                   with FHWA approved TxDOT 2011
                                               2014 Categorical Exclusion (CE)                         expressed a desire to receive                         Noise Guidelines. The TxDOT must
                                               monitoring review that generated                        constructive feedback from the team. By               have a program for Type II noise
                                               expected corrective actions, and (3)                    considering and acting upon the                       abatement projects in order to allow for
                                               allow the first audit report to be                      observations contained in this report,                the construction of a noise abatement
                                               completed 6 months after the execution                  TxDOT should continue to improve                      barrier as a separate project (23 CFR
                                               of the MOU. Based on monthly reports                    upon carrying out its assigned                        772.5). The TxDOT does not currently
                                               from TxDOT, the universe of projects                    responsibilities and ensure the success               have such a program and, therefore,
                                               subject to review consisted of 357                      of its NEPA Assignment Program.                       could not approve the noise abatement
                                               projects approved as CEs, 9 approvals to                                                                      barrier as a separate project. Before
                                               circulate an Environmental Assessment                   Non-Compliance Observations
                                                                                                                                                             approving any NEPA decision
                                               (EA), 4 findings of no significant                        Non-compliance observations are                     document, TxDOT should be
                                               impacts (FONSI), 3 re-evaluations of                    instances of being out of compliance                  knowledgeable of, and must apply, all
                                               EAs, 2 Section 4(f) decisions, and 1                    with a Federal regulation, statute,                   applicable provisions of FHWA policy
                                               approval of a draft environmental                       guidance, policy, TxDOT procedure, or                 and regulation.
                                               impact statement (EIS) project. The team                the MOU. The FHWA expects TxDOT to
                                               selected a random sample of 57 CE                       develop and implement corrective                      Non-Compliance Observation #2
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                                               projects sufficient to provide a 90                     actions to address all non-compliance                   The second non-compliance
                                               percent confidence interval and                         observations. The TxDOT may consider                  observation is a project approved by
                                               reviewed project files for all 19                       implementing any recommendations                      TxDOT staff before all environmental
                                               approvals that were other than CEs (for                 made by FHWA to address non-                          requirements had been satisfied. Before
                                               a total of 76 files reviewed). Regarding                compliance and other observations. The                TxDOT’s approval, the project required
                                               interviews, the team’s focus was on                     team acknowledges that TxDOT has                      a project-level air quality conformity
                                               leadership in TxDOT’s Environmental                     already taken corrective actions to                   determination pursuant to 40 CFR


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                                               50908                         Federal Register / Vol. 80, No. 162 / Friday, August 21, 2015 / Notices

                                               93.121 and be consistent with the State                 self-assessment, or by some other                     Assignment Program issues. To date, the
                                               Transportation Improvement Program                      means. The team acknowledges that by                  NEPA Chat has proven to be an effective
                                               (STIP). The TxDOT staff made a                          sharing this draft audit report with                  vehicle to disseminate relevant NEPA
                                               conditional NEPA approval (CE                           TxDOT, they have already implemented                  information quickly and selectively to
                                               determination) on a project that,                       actions to address the observations to                the TxDOT District Environmental
                                               according to records, was not correctly                 improve their program. The FHWA will                  Coordinators. Lastly, based on
                                               listed in the STIP. The TxDOT then                      consider the status of these observations             interviews and the response to the pre-
                                               reported the approval to FHWA. The                      as part of the scope of Audit #2. We will             audit information request, almost all the
                                               FHWA’s policy in 23 CFR 771 is to                       also include a summary discussion that                ENV and District staff feels there is
                                               coordinate compliance with all                          describes progress since the last audit in            sufficient staff to deliver a successful
                                               environmental requirements as a single                  the Audit #2 report.                                  NEPA Assignment program. This is
                                               process under NEPA. Conditional                                                                               further supported by ENV’s willingness
                                                                                                       Program Management
                                               approvals do not comply with the                                                                              to shift responsibilities to better align
                                               FHWA NEPA policy because they have                        The team recognized four successful                 with the needs of the NEPA Assignment
                                               the effect of allowing a project to move                program management practices. First, it               program. After interviewing the various
                                               to the next step of project development                 was evident through interviews that                   Districts, they indicated that ENV is
                                               without satisfying all environmental                    TxDOT has employed highly qualified                   available to assist the Districts when
                                               requirements. Also, there is no authority               staff for its program. Second, the team               they need help.
                                               in the MOU for TxDOT to make                            saw evidence of strong communication                     The SAB fosters regular and
                                               conditional approvals. There is a                       between TxDOT’s ENV and District staff                productive communication with District
                                               specific MOU requirement in Part 3.3.1                  explaining roles and responsibilities                 staff. Based on reviews of project
                                               for a project to be consistent with the                 associated with implementation of the                 documentation, the SAB staff prepares
                                               STIP. The team found evidence in ECOS                   MOU for NEPA Assignment. Third,                       and transmits a summary of their
                                               that this project required a project-level              based on the response to the pre-audit                results, both positive and negative, and
                                               air quality conformity determination.                   information request and from                          follows up via telephone with the
                                               The responsibility for this                             interviews, the team recognized efforts               District Environmental Coordinator
                                               determination was not assigned to                       to create procedures, guidance, and                   responsible for the project. They
                                               TxDOT under the NEPA Assignment                         tools to assist Districts in meeting                  provided this feedback within 2 weeks
                                               MOU, and FHWA subsequently made                         requirements of the MOU. And finally,                 of their review, which results in early
                                               this determination. The team                            District staff understands and takes                  awareness of issues and corrective
                                               acknowledges this project was                           pride in ownership when making CE                     action, where necessary; as well as
                                               somewhat unusual as there was                           determinations. The ENV likewise takes                positive feedback when the project files
                                               uncertainty at the Department as to                     pride in the responsibility for EA and                appear to be in order. The creation of
                                               whether the project was adding capacity                 Environmental Impact Statement (EIS)                  the pilot ‘‘Risk Assessment’’ tool (a
                                               requiring a Division Office conformity                  decision-making as well as oversight for              ‘‘smart pdf form’’) for environmental
                                               determination. Since that time, the                     the NEPA Assignment Program.                          documents is a successful, but optional
                                               Division Office has confirmed that such                   The team found evidence of                          procedure. When used, it helps Districts
                                               projects do add capacity and are subject                successful practices in information                   understand the resources to be
                                               to individual project level conformity.                 provided by TxDOT and through                         considered, what resources should
                                               Where required, TxDOT needs to                          interviews. They learned of specific                  receive further analysis and documents
                                               coordinate with the FHWA Texas                          incidences where TxDOT has                            District decisions. Even though this tool
                                               Division Office staff to obtain a project-              intentionally hired new personnel and                 is not currently integrated within ECOS,
                                               level air quality conformity                            reorganized existing staff to achieve a               it can be uploaded when used. The
                                               determination before making a NEPA                      successful NEPA Assignment program.                   TxDOT noted that it had recently
                                               approval decision for a project.                        The TxDOT hired a Self-Assessment                     developed a Quality Assurance/Quality
                                                                                                       Branch (SAB) manager, a staff                         Control (QA/QC) Procedures for
                                               Observations and Successful Practices                   development manager (training                         Environmental Documents Handbook
                                                  This section summarizes the team’s                   coordinator), and an additional attorney              (March 2015), and it is used by the Core
                                               observations about issues or practices                  to assist with NEPA Assignment                        Team to develop EA and EIS
                                               that TxDOT may want to consider as                      responsibilities. The audit team                      documents. Through its response to pre-
                                               areas to improve as well as practices the               recognizes the TxDOT ‘‘Core Team’’                    audit questions and through interviews
                                               team believes are successful that TxDOT                 concept (which provides joint ENV and                 with various staff, TxDOT has
                                               may want to continue or expand in                       District peer reviews for EAs and EISs                demonstrated that it has provided a
                                               some manner. All six topic areas                        only) as a good example of TxDOT                      good base of tools, guidance, and
                                               identified in FHWA’s pre-audit                          utilizing their existing staff to analyze             procedures to assist in meeting the
                                               information request are addressed here                  NEPA documents and correct                            terms of the MOU and takes pride in
                                               as separate discussions. Our report on                  compliance issues before finalization.                exercising its assumed responsibilities.
                                               legal sufficiency reviews is a description              Many Districts appreciate the efforts of                 The team considers three observations
                                               of TxDOT’s current status as described                  the Core Team and credit them for                     as sufficiently important to urge TxDOT
                                               in their response to the pre-audit                      assuring their projects are compliant.                to consider improvements or corrective
                                               information request. The team will                      The ‘‘NEPA Chat’’ is another great                    actions to project management in their
                                               examine TxDOT’s legal sufficiency                       example of TxDOT’s intentional effort to              NEPA Assignment Program.
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                                               reviews by project file inspection and                  achieve a compliant NEPA Assignment
                                               through interviews in future audits.                    Program with enhanced communication                   Observation #1
                                                  The team lists 16 observations below                 among TxDOT environmental staff                         The CE review completed in August
                                               that we urge TxDOT to act upon to make                  statewide. The NEPA Chat, led by ENV,                 resulted in expectations to implement
                                               improvements through one or more of                     provides a platform for complex issues                important updates to ECOS. The team
                                               the following: corrective action, targeted              to be discussed openly, and for Districts             found, however, that TxDOT has been
                                               training, revising procedures, continued                to learn about statewide NEPA                         slow to implement updates to ECOS.


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                                                                             Federal Register / Vol. 80, No. 162 / Friday, August 21, 2015 / Notices                                            50909

                                               These improvements would ensure that                    Observation #3                                        Observation #5
                                               TxDOT’s project records are complete                                                                             The team found 7 of the 57 CE
                                               and correct, utilizing the appropriate                    The team found indications from
                                                                                                       interviews that local public agency                   projects reviewed to lack sufficient
                                               terms as cited in the MOU, law,                                                                               project description detail to demonstrate
                                               regulation, or executive order. The                     (LPA) projects do not receive the same
                                                                                                       scrutiny as TxDOT projects, despite                   that the category of CE action and any
                                               team’s ECOS related observations for                                                                          related conditions or constraints were
                                                                                                       TxDOT’s project development and
                                               improvement come from information                                                                             met, in order to make a CE approval.
                                                                                                       review process applying uniformly to all
                                               provided by TxDOT and through                                                                                 The team performing the CE monitoring
                                                                                                       highway projects. Several District staff
                                               interviews. Beginning with the                                                                                review completed in August 2014 made
                                                                                                       confirmed that LPA projects were
                                               monitoring review of CE projects                                                                              a similar observation where TxDOT
                                                                                                       reviewed no differently from TxDOT
                                               completed in August 2014 the team                       projects; others did not, which means                 indicated it would take corrective
                                               identified the many accomplishments                     TxDOT may need to consider ways to                    action. The particular project files
                                               made by TxDOT to ensure ECOS meets                      ensure its procedures are consistently                included actions that could not be
                                               the needs of users of this information.                 applied, regardless of project sponsor.               determined to be limited to the existing
                                               However, we also noted areas where                      The team found the approach to                        operational right-of-way (CE 23 CFR
                                               necessary ECOS improvement had not                      developing and providing training for                 771.117(c)22), or an action that utilizes
                                               yet happened. The team was told that                    LPA sponsored projects to be a lower                  less than $5 million of Federal funds
                                               due to outsourcing of many of TxDOT’s                   priority than for TxDOT projects.                     (CE c23) or an action that met six
                                               IT services, the State was unable to                                                                          environmental impact constraints before
                                               complete improvements, due to other                     Documentation and Records                             it could be applied (CEs c26, c27, c28).
                                               perceived priorities in the Department.                 Management                                            The documented compliance with
                                               The TxDOT interviewees indicated that                      The team relied completely on                      environmental requirements prepared
                                               a contract will soon be executed to                     information in ECOS, TxDOT’s official                 by TxDOT needs to support the CE
                                               accomplish needed changes, based on                     file of record, to evaluate project                   action proposed and that any conditions
                                               the CE monitoring report. Given the                     documentation and records                             or constraints have been met. The
                                               importance of ECOS as TxDOT’s official                  management. The ECOS is a tool for                    TxDOT should evaluate whether
                                               file of record (for projects under                      information recordation, management                   changes in ECOS and/or their
                                               implementation of the MOU) for the                      and curation, as well as for disclosure               procedures are necessary to ensure that
                                               NEPA Assignment Program, and since                      within TxDOT District Offices and                     project descriptions are recorded in
                                               obtaining IT contracting resources                      between Districts and ENV. The strength               sufficient detail to verify the appropriate
                                               appears to be a challenge, the team                     of ECOS is its potential for adaptability             CE action was approved.
                                               urges TxDOT leadership to support                       and flexibility. The challenge for                    Observation #6
                                               timely and necessary updates to the                     TxDOT is to maintain and update the
                                               ECOS system. The team recommends                                                                                 The team at times encountered
                                                                                                       ECOS operating protocols (for
                                               that the statement of work for the IT                                                                         difficulty finding information and found
                                                                                                       consistency of use and document/data
                                               contract be sufficiently broad to                                                                             outdated terms in project files. Several
                                                                                                       location) and to educate its users on
                                               implement all the required and                                                                                project files included CE labels that are
                                                                                                       updates in a timely manner.
                                               necessary changes identified in both                                                                          no longer valid (blanket categorical
                                                                                                          Based on examination of the 76 files               exclusion, BCE), but approvals for those
                                               reviews.                                                reviewed, the team identified 4 general               project identified the appropriate CE
                                               Observation #2                                          observations (#4, #5, #6, and #7) about               action. Other files indicated that certain
                                                                                                       TxDOT record keeping and                              coordination had been completed, but
                                                  The team would like to draw the                      documentation that could be improved                  the details of the letters or approvals
                                               attention of TxDOT to issues and                        or clarified. The team used a                         themselves could not be located. In
                                               concerns arising from interaction with                  documentation checklist to verify and                 reviewing project records, the team
                                               resource and regulatory agencies,                       review the files of the 76 sampled                    occasionally encountered difficulty
                                               especially in ways for TxDOT to address                 projects.                                             finding uploaded files because
                                               possible disputes and conflicts early                                                                         information occurred in different tabs
                                                                                                       Observation #4
                                               and effectively. During interviews with                                                                       within ECOS. Another source of
                                               both the TxDOT staff and resource                          The team was unable to confirm in 11               confusion for the team was
                                               agency staff, the team learned that there               of the projects where environmental                   inconsistency in file naming (or an
                                               have been no conflicts between TxDOT                    commitments may have needed to be                     absence of a file naming convention) for
                                               and agencies. Despite no reported                       recorded in an Environmental Permits                  uploaded files. Because of these
                                               conflicts, agency staff reported issues of              Issues and Commitments (EPIC) plan                    difficulties the team could not
                                               concern that they believed TxDOT was                    sheet, that the commitments were                      determine whether a project file was
                                               not addressing. Examples include: being                 addressed. All environmental                          incomplete or not. The audit team urges
                                               kept in the loop on the decisions made                  commitments need to be recorded and                   TxDOT to seek ways to establish
                                               by TxDOT, occasional quality concerns                   incorporated in the project development               procedures and organize ECOS to
                                               for information provided by TxDOT,                      process so they are documented and or                 promote project records where
                                               and occasionally feeling rushed to                      implemented when necessary. If                        information may be identified and
                                               review and process TxDOT projects.                      required environmental commitments                    assessed more easily.
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                                               The team recognizes that good                           are not recorded in an EPIC, those
                                               communication is a shared                               commitments would not be                              Observation #7
                                               responsibility among the parties and                    implemented. The TxDOT should                           The team notes that most ECOS
                                               suggests TxDOT consider ways to                         evaluate whether its procedures to                    project records are for CEs, which may
                                               recognize and address disputes, issues,                 ensure that environmental commitments                 be difficult to disclose to the public.
                                               and concerns before they become                         are both recorded and implemented is                  Based on interviews with TxDOT staff
                                               conflicts.                                              appropriate.                                          the team wondered how TxDOT would


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                                               50910                         Federal Register / Vol. 80, No. 162 / Friday, August 21, 2015 / Notices

                                               disseminate information, such as                        forms, guidance, and handbooks that                   intended and that they could adequately
                                               technical reports, from ECOS as part of                 should lead to the reduction of                       identify areas needing improvement.
                                               Public Involvement procedures. The                      improper documentation and need for                   The TxDOT needs to better assess the
                                               ENV management has since explained                      revisions. The SAB and CAT team work                  effectiveness of its QA/QC approach (a
                                               that information will be provided upon                  together with ENV subject matter                      performance measure that it must report
                                               request or at public meetings/hearings                  experts to update forms, guidance, and                on) by clarifying its review approach,
                                               for a project.                                          handbooks in three locations (ENV                     recording justifications for decisions
                                                                                                       internal server, internal ENV Web page,               TxDOT makes on how often project
                                               Quality Assurance/Quality Control
                                                                                                       and external TxDOT Web site). The ENV                 records are evaluated, and what
                                                  The team considers the QA/QC                         has strongly encouraged the Districts to              specifically is reviewed.
                                               program to be generally in compliance                   go to the appropriate location before
                                               with the provisions of TxDOT’s QA/QC                                                                          Observation #10
                                                                                                       starting a new document to ensure they
                                               Plan. However, TxDOT has yet to apply                   are using the most up to date version of                 The team learned that TxDOT District
                                               the SAB program-level review for EA                     all forms. The end result of the form                 staff does not have a clear and
                                               and EIS projects and the lack of data                   peer review process should result in                  consistent understanding of what
                                               from these types of projects means the                  fewer errors and more consistency in                  distinguishes ‘‘quality assurance’’ and
                                               team at this time cannot fully evaluate                 NEPA documentation.                                   ‘‘quality control’’ and ‘‘self-assessment’’
                                               the effectiveness of the program for                       The team considers three observations              with regards to expectations for reviews
                                               these types of projects. The team                       as sufficiently important to urge TxDOT               necessary to reach a NEPA decision
                                               learned that TxDOT’s SAB is still                       to consider improvements or corrective                versus feedback once a decision was
                                               developing standards and training for                   actions to their approach to QA/QC.                   made. From interviews with District and
                                               implementation.                                                                                               ENV staff, the team found staff was
                                                  The team recognized four areas of                    Observation #8                                        unclear about the role and responsibility
                                               successful practices in TxDOT’s                           The team learned through interviews                 of the SAB and the CAT. Several District
                                               approach to QA/QC. First, TxDOT’s use                   that no EA or EIS projects had been                   managers said that they had not seen the
                                               of a Core Team and its development and                  reviewed by the SAB and there was no                  QA/QC feedback on projects in their
                                               usage of QA/QC checklists and toolkits                  agreed upon timeline for the completion               District and were not sure if their staff
                                               are effective and appear to result in a                 of SAB guidelines or standards. This is               had received comments from the SAB or
                                               more standardized internal review                       due to the standards for SAB reviews of               the CAT. The TxDOT should evaluate
                                               process. The TxDOT QA/QC Plan states                    EA and EIS documents not yet being                    whether they need to clarify
                                               that a Core Team, composed of a District                established, and to the fact only four                expectations for receiving review
                                               Environmental Coordinator and one                       FONSIs were made on EAs at the time                   comments before and after NEPA
                                               individual from ENV, will be formed for                 of the team’s ECOS project file review.               decisionmaking to District staff.
                                               every EA and EIS project. The QA/QC                     The team acknowledges that TxDOT
                                                                                                       conducts QA/QC for EA and EIS                         Legal Sufficiency Review
                                               Plan states that Toolkits, Administrative
                                               Completeness Reviews and                                projects and urges TxDOT to complete                     During this audit period FHWA
                                               Determinations, Review for Readiness,                   and apply their SAB approach in a                     attorneys delivered a legal sufficiency
                                               and Certification forms will be utilized                timely manner.                                        training for the benefit of the TxDOT
                                               to ensure quality documents and                                                                               attorneys. The team did not perform
                                                                                                       Observation #9                                        analyses of this topic area during this
                                               compliance with NEPA laws and
                                               regulations.                                               The team learned through interviews                audit. However, the team noted that
                                                  Second, the team learned through                     that there is no established project                  TxDOT developed a set of Standard
                                               interviews that TxDOT’s SAB review                      sampling methodology for self-assessing               Operating Procedures for Legal
                                               process has resulted in very timely and                 TxDOT’s effectiveness of their standards              Sufficiency Review. The process is also
                                               helpful feedback to District staff. The                 and guidance. While TxDOT employs                     described in ENV’s Project Delivery
                                               team was told that feedback from SAB                    sampling, the team could not find                     Manual, an internal document of
                                               team reviews is generally                               information that described how TxDOT                  processes and procedures used by
                                               communicated within 2 weeks of the                      assessed that they evaluated a sufficient             project delivery staff. The TxDOT’s
                                               NEPA documentation completion date.                     number of projects. Through our                       Office of General Counsel tracks legal
                                               District staff said that they appreciate                interviews with SAB staff the team                    review requests and their status by
                                               the feedback that helps to ensure they                  learned that there have been several                  keeping a log.
                                               are following procedures and                            approaches to conducting reviews of the                  According to TxDOT’s project
                                               guidelines. The TxDOT also established                  CEs completed since the NEPA                          delivery manual, four attorneys are
                                               a ‘‘Corrective Action Team’’ (CAT) that                 Assignment Program. Before the NEPA                   available for legal reviews. Additional
                                               aids in the SAB team’s effectiveness.                   Assignment Program began, the SAB                     legal assistance may be requested by
                                               The CAT is responsible for determining                  team reviewed 100 percent of CE files.                TxDOT to the Transportation Division
                                               if findings from SAB reviews are                        Then between December 2014, and                       of the Office of the Texas Attorney
                                               systematic or confined to a certain area                February 2015, SAB reviews were a grab                General. These attorneys would, as part
                                               or individual. The CAT is in place to                   sample of 11 files each week. Eight were              of their review responsibilities, provide
                                               ensure issues found by SAB review are                   partial project reviews that focused on               written comments and suggestions
                                               resolved.                                               certain project types. The remaining                  (when necessary) to TxDOT ENV to help
                                                  Third, the team was told that some                   three reviews were of complete project                ensure a document’s legal sufficiency.
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                                               District staff developed their own QA/                  files for new CE categories (c22 and                  They would also be available to discuss
                                               QC tools and processes for CEprojects                   c23’s). Since February 2015, the SAB                  questions or issues. Once the reviewing
                                               (i.e. smart PDF forms, peer reviews, and                team has reviewed only the CE                         attorney is satisfied that staff has
                                               a two signature approval process) that                  Documentation Form in project files.                  addressed his or her comments/
                                               have led to fewer errors.                               The team was unable to determine                      suggestions to the maximum extent
                                                  Fourth, TxDOT’s SAB and CAT                          whether TxDOT staff had a basis to                    reasonably practicable, the reviewing
                                               recently implemented peer reviews for                   assert that its process was working as                attorney will provide TxDOT ENV with


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                                                                             Federal Register / Vol. 80, No. 162 / Friday, August 21, 2015 / Notices                                           50911

                                               written documentation that the legal                    information for overall performance                   confirmation’’ monitoring tends to be
                                               sufficiency review is complete.                         measure baselines are District records                used when the underlying system or
                                                 The TxDOT ENV has indicated it will                   and ECOS records.                                     process under evaluation is known to
                                               not finalize a Final Environmental                        The TxDOT staff stated that they are                have low levels of errors or problems.
                                               Impact Statement, individual Section                    considering a variety of performance                  Given that NEPA assumption is new to
                                               4(f) evaluation, Notice of Intent, or                   measurements in addition to measures                  TxDOT, such practice does not appear
                                               139(l) Notice before receiving written                  identified in their response to the pre-              to be appropriate for gauging
                                               documentation that the legal sufficiency                audit information request. The audit                  effectiveness at this time.
                                               review is complete. The team was                        team recognizes that developing
                                               informed that, at the discretion of                     meaningful measures for this program is               Training Program
                                               TxDOT ENV, EAs may be reviewed for                      difficult. However, the audit team
                                               legal sufficiency. If additional reviews                encourages TxDOT staff to continue to                    The team reviewed TxDOT’s initial
                                               are needed, the type and scope of an                    explore innovative ways to measure                    training plan provided in the response
                                               additional review would be determined                   performance. (For example, one                        to the pre-audit information request and
                                               by TxDOT ENV on a case-by-case basis.                   interviewee described statistical and                 evaluated its contents and adequacy
                                                                                                       visual methods to report the                          through interviews of ENV and District
                                               Performance Measurement                                                                                       staff. Based on information gained,
                                                                                                       performance measure of timeliness this
                                                  The purpose of performance measures                  way: ‘‘We will calculate all the                      TxDOT staff should consider the
                                               is explained in the MOU (Part 10). Four                 statistical numbers. We will look at                  following issues and questions in
                                               performance measures were mutually                      median and look at cluster around the                 preparing the annual update of their
                                               agreed upon by FHWA and TxDOT so                        median. It will likely result in a visual             training plan, as required in the MOU.
                                               that FHWA can take them into account                    analysis of the data (box plot with                   The team found the training plan
                                               in its evaluation of TxDOT’s                            outliers, measures of central                         compliant.
                                               administration of the responsibilities it               tendency).’’)                                            The team recognizes two successful
                                               has assumed under the MOU. These
                                                                                                       Observation #11                                       practices. First, FHWA recognizes that
                                               measures provide an overall indication
                                                                                                                                                             TxDOT’s largest venue for training is its
                                               of TxDOT’s discharge of its MOU                            The TxDOT reports in their response
                                                                                                                                                             annual environmental conference. This
                                               responsibilities. In collecting data                    to the pre-audit information request that
                                               related to the reporting on the                         the QA/QC measure for NEPA decisions                  annual gathering of Federal, State, and
                                               performance measures, TxDOT monitors                    focuses only on EA and EIS projects, but              local agency employees as well as
                                               its overall progress in meeting the                     not decisions related to CEs and other                consultants, in a context of fellowship
                                               targets of those measures and includes                  specific NEPA-related issues. Many                    (400+ attendees), addresses a wide array
                                               this data in self-assessments provided                  decisions are tied to NEPA including                  of environmental topics that reinforce
                                               under the MOU (Part 8.2.5). The four                    important ones such as decisions on                   existing and new environmental
                                               performance measures are: (1)                           Section 4f (identification of properties,             policies and procedures. The
                                               Compliance with NEPA and other                          consideration of use, consideration of                presentations at the conference are
                                               Federal environmental statutes and                      prudent and feasible avoidance                        usually no longer than 1- hour per topic,
                                               regulations, (2) quality control and                    alternatives) and re-evaluations                      but on some occasions does provide
                                               assurance for NEPA decisions, (3)                       (whether the outcome was adequately                   more in depth training. The team
                                               relationships with agencies and the                     supported and is still valid). In applying            encourages the continuation of the
                                               general public, and (4) increased                       this performance measure, the team                    conference.
                                               efficiency and timeliness in completion                 urges TxDOT consider evaluating a                        Second, the ‘‘NEPA Chat’’ is a
                                               of the NEPA process.                                    broader range of decisions.                           monthly ENV-led web-based learning/
                                                  The TxDOT is gathering performance                                                                         exchange opportunity for TxDOT
                                               baseline data and testing data collection               Observation #12
                                                                                                                                                             environmental employees statewide. It
                                               techniques designed to inform the                          The team recognizes that TxDOT is
                                                                                                                                                             is a venue for them to receive updated
                                               performance measure metrics that will                   still in the very early stages of applying
                                                                                                                                                             news and announcements, exchange
                                               be reported. The TxDOT intends,                         its performance measures. Based on
                                                                                                                                                             ideas and is a forum for routine
                                               according to information provided in                    information gained in the pre-audit
                                                                                                                                                             communication among Districts and
                                               their response to pre-audit information                 request and through interviews, more
                                                                                                                                                             ENV. This informal training venue is
                                               questions, to begin reporting on                        information on performance measures
                                                                                                                                                             versatile, flexible, and responsive to the
                                               performance measures with the                           and their verification may need to be
                                                                                                                                                             need to communicate information that
                                               submittal of the next self-assessment                   presented before the utility of such
                                                                                                                                                             should improve the consistency of
                                               summary report. This report is expected                 measures can be evaluated for audit
                                                                                                                                                             statewide NEPA Assignment practices.
                                               in September 2015.                                      purposes. The performance measure for
                                                  Developing baseline measures is an                   compliance with NEPA and other                           The team considers four observations
                                               important part of establishing a                        Federal requirements for EA and EIS                   as sufficiently important to urge TxDOT
                                               performance measure program. The                        projects have yet to be fully defined.                to consider improvements or corrective
                                               team learned in interviews that                         The performance measurement plan                      actions to their approach to the training
                                               TxDOT’s QA/QC process includes                          indicated that TxDOT would conduct                    program. The FHWA recognizes that
                                               procedures to ensure that each                          agency polls to determine the measure                 TxDOT’s assumption of Federal
                                               performance measure has begun with                      for relationships with agencies and the               environmental responsibilities and
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                                               the careful vetting (by following up with               general public, but little detail was                 liabilities is new and involves tasks not
                                               individuals in Districts) of data used to               provided as to what polls would be                    previously performed or familiar to its
                                               develop the baseline measures for                       conducted and verified. The team also                 staff. This is the reason why training is
                                               performance timeliness. This process                    was concerned that the measure for the                a component of a State’s qualifications
                                               should contribute to the validity of the                TxDOT relationship with the public                    and readiness to assume FHWA’s
                                               measures. The TxDOT staff explained in                  may be too limited by focusing on the                 responsibilities and is addressed in a
                                               interviews that the primary sources of                  number of complaints. Such ‘‘negative                 separate section in the MOU (Part 12).


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                                               50912                         Federal Register / Vol. 80, No. 162 / Friday, August 21, 2015 / Notices

                                               Observation #13                                         trained and a clear statement whether                 DEPARTMENT OF TRANSPORTATION
                                                  The team identified a concern about                  training was required for a certain job.
                                                                                                       Due to the connection potentially being               Federal Motor Carrier Safety
                                               TxDOT’s approach to training and its
                                                                                                       tenuous, this may explain the                         Administration
                                               training plan. Information gained in
                                               interviews indicated that the initial                   inconsistency the team heard in                       [Docket No. FMCSA–2015–0012]
                                               TxDOT training plan relied heavily on                   interview responses to questions on
                                               a training model employed by the                        training commitments from District                    Hours of Service of Drivers:
                                               California Department of Transportation                 managers. The team suggests that the                  Application for Exemption; American
                                               (Caltrans), because Caltrans is the only                progressive training plan clearly                     Trucking Associations, Inc.
                                               State that has assumed NEPA                             identify training required for each job
                                                                                                       classification.                                       AGENCY:  Federal Motor Carrier Safety
                                               responsibilities for the entire highway                                                                       Administration (FMCSA), DOT.
                                               program. The FHWA does not believe                      Observation #16                                       ACTION: Notice of final disposition; grant
                                               the Caltrans training model can
                                               replicate its current form to meet the                     From the perspective of the MOU,                   of application for exemption.
                                               needs of TxDOT, because TxDOT has                       training planning and implementation is               SUMMARY:   FMCSA announces its
                                               fewer NEPA staff, State environmental                   a partnership effort amongst TxDOT,                   decision to grant motor carriers
                                               laws that differ in scope, and a different              FHWA, and other agencies. Training                    transporting security-sensitive
                                               business ‘‘culture.’’ There are other                   should be an ongoing task that follows                hazardous materials (HM) requiring a
                                               States (Idaho, Michigan, North Dakota,                  an up-to-date and mid-to-long range                   security plan an exemption from the
                                               Ohio, and Wyoming) that have                            training plan. The current training plan              Federal hours-of-service (HOS)
                                               established training plans that TxDOT                   includes mostly TxDOT self-identified                 regulations that prohibit commercial
                                               could draw upon as examples. These                      training needs and addresses those                    motor vehicle (CMV) drivers from
                                               examples may benefit TxDOT and                          needs. The MOU (Part 12.2) allows for                 driving a CMV if more than 8
                                               TxDOT should consider evaluating                        3 months after the MOU is executed, to                consecutive hours have passed since the
                                               components of these State’s training                    develop a training plan in consultation               driver’s last off-duty or sleeper-berth
                                               plans in their future annual updates of                 with FHWA and other agencies. The                     period of 30 minutes or more. American
                                               their own training plan.                                TxDOT has committed in the MOU to                     Trucking Associations, Inc. (ATA)
                                               Observation #14                                         consider the recommendations of                       requested the exemption on behalf of all
                                                                                                       agencies in determining training needs,               motor carriers that transport certain HM
                                                  The team found evidence that some                    and to determine with FHWA, the                       shipments requiring security plans
                                               aspects of training tasks were either                   required training in the training plan                under regulations of the Pipeline and
                                               unattended and/or appear to have been                   MOU (Part 12.2). The TxDOT                            Hazardous Materials Safety
                                               forgotten based on the training plan                    considered and will address the specific              Administration (PHMSA). These plans
                                               information provided to the team. The                   comments from the U.S. Army Corps of                  normally require a driver to attend such
                                               TxDOT has a section of their Web site                   Engineers in the current training plan.               cargo while the CMV is stopped, which
                                               devoted to training, that the team                      However, the team learned through                     is an on-duty activity under the HOS
                                               learned from interviews, is out of date.                interviews that individuals responsible               rules. Exempt drivers may now count
                                               Some courses are no longer taught and                   for training planning were unaware of                 their on-duty attendance of HM cargo
                                               several classes are in need of updating,                the coordination between TxDOT                        toward the required 30-minute rest
                                               all of which provided for training of                   subject matter experts and other                      break requirement provided they
                                               non-TxDOT staff (i.e. local governments                 agencies related to training. It may be               perform no other on-duty activity. This
                                               and consultants). The team urges                        useful for the TxDOT training                         exemption parallels § 395.1(q) of the
                                               TxDOT to assess whether the proposed                    coordinator to be fully involved and                  Federal Motor Carrier Safety
                                               training approach for non-TxDOT staff                   aware of the range of coordination other              Regulations (FMCSRs) that allows
                                               (relying heavily upon the annual                        TxDOT staff performs so that the                      drivers who are attending loads of
                                               environmental conference) is adequate                   training plan benefits from this                      certain explosives to count on-duty
                                               and responsive enough to address a                      coordination.                                         attendance time toward their rest break
                                               need to quickly disseminate newly                                                                             so long as they engage in no other on-
                                               developed procedures and policy.                        Next Steps
                                                                                                                                                             duty activity.
                                               Observation #15                                            The FHWA provided this draft audit                 DATES: The exemption is effective
                                                  The TxDOT training plan is currently                 report to TxDOT for a 14-day review                   August 21, 2015 and expires on August
                                               silent on whether certain subjects and                  and comment period. The team has                      21, 2017.
                                               topics are mandatory or required for                    considered TxDOT comments in                          FOR FURTHER INFORMATION CONTACT:
                                               certain job responsibilities. The TxDOT                 developing this draft audit report. As                Thomas L. Yager, Chief, FMCSA Driver
                                               staff told the team they would be                       the next step, FHWA will publish a                    and Carrier Operations Division; Office
                                               developing a ‘‘progressive training                     notice in the Federal Register to make                of Carrier, Driver and Vehicle Safety
                                               plan’’ that will identify the range of                  it available to the public and for a 30-              Standards; Telephone: 202–366–4325;
                                               training necessary for each job                         day comment period review [23 U.S.C.                  Email: MCPSD@dot.gov.
                                               classification. District Environmental                  327(g)]. No later than 60 days after the
                                                                                                                                                             SUPPLEMENTARY INFORMATION:
                                               Coordinators, and particularly District                 close of the comment period, FHWA
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                                               managers who allocated training                         will respond to all comments submitted                Background
                                               resources, indicated in interviews that                 in finalizing this draft audit report                    FMCSA has authority under 49 U.S.C.
                                               they needed to know which training                      [pursuant to 23 U.S.C. 327(g)(B)]. Once               31136(e) and 31315 to grant exemptions
                                               was required for various TxDOT job                      finalized, the audit report will be                   from the FMCSRs. FMCSA must publish
                                               categories, to set budgeting priorities.                published in the Federal Register.                    a notice of each exemption request in
                                               The team recognized the important                       [FR Doc. 2015–20733 Filed 8–20–15; 8:45 am]           the Federal Register (49 CFR
                                               connection between getting District staff               BILLING CODE 4910–22–P                                381.315(a)). The Agency must provide


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Document Created: 2018-02-23 11:00:50
Document Modified: 2018-02-23 11:00:50
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
ActionNotice; request for comment.
DatesComments must be received on or before September 21, 2015.
ContactDr. Owen Lindauer, Office of Project Development and Environmental Review, (202) 366-2655, [email protected], or Mr. Jomar Maldonado, Office of the Chief Counsel, (202) 366-1373, [email protected], Federal Highway Administration, Department of Transportation, 1200 New Jersey Avenue SE., Washington, DC 20590. Office hours are from 8:00 a.m. to 4:30 p.m., e.t., Monday through Friday, except Federal holidays.
FR Citation80 FR 50905 

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