83_FR_15517 83 FR 15448 - Surface Transportation Project Delivery Program; TxDOT Audit #4 Report

83 FR 15448 - Surface Transportation Project Delivery Program; TxDOT Audit #4 Report

DEPARTMENT OF TRANSPORTATION
Federal Highway Administration

Federal Register Volume 83, Issue 69 (April 10, 2018)

Page Range15448-15453
FR Document2018-07293

The Surface Transportation Project Delivery Program allows a State to assume FHWA's environmental responsibilities for review, consultation, and compliance for Federal highway projects. 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. Prior to the Fixing America's Surface Transportation (FAST) Act of 2015, the Program required semiannual audits during each of the first 2 years of State participation to ensure compliance by each State participating in the Program. This notice finalizes the findings of the fourth audit report for the Texas Department of Transportation's (TxDOT) participation in accordance with these pre-FAST Act requirements.

Federal Register, Volume 83 Issue 69 (Tuesday, April 10, 2018)
[Federal Register Volume 83, Number 69 (Tuesday, April 10, 2018)]
[Notices]
[Pages 15448-15453]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2018-07293]


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DEPARTMENT OF TRANSPORTATION

Federal Highway Administration

[FHWA Docket No. FHWA-2017-0038]


Surface Transportation Project Delivery Program; TxDOT Audit #4 
Report

AGENCY: Federal Highway Administration (FHWA), DOT.

ACTION: Notice.

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SUMMARY: The Surface Transportation Project Delivery Program allows a 
State to assume FHWA's environmental responsibilities for review, 
consultation, and compliance for Federal highway projects. 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. Prior to the Fixing America's Surface 
Transportation (FAST) Act of 2015, the Program required semiannual 
audits during each of the first 2 years of State participation to 
ensure compliance by each State participating in the Program. This 
notice finalizes the findings of the fourth audit report for the Texas 
Department of Transportation's (TxDOT) participation in accordance with 
these pre-FAST Act requirements.

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, U.S. 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

    The Surface Transportation Project Delivery Program 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. Since December 16, 2014, 
TxDOT has assumed FHWA's responsibilities under the National 
Environmental Policy Act of 1969 and the responsibilities for reviews 
under other Federal environmental requirements under this authority.
    Prior to December 4, 2015, 23 U.S.C. 327(g) required the Secretary 
to conduct semiannual audits during each of the first 2 years of State 
participation, annual audits during years 3 and 4, and monitoring each 
subsequent year of State participation to ensure compliance by each 
State participating in the program. The results of each audit were 
required to be presented in the form of an audit report and be made 
available for public comment. On December 4, 2015, the President signed 
into law the FAST Act, Public Law 114-94, 129 Stat. 1312 (2015). 
Section 1308 of the FAST Act amended the audit provisions by limiting 
the number of audits to one audit each year during the first 4 years of 
a State's participation.
    A draft version of this report was published in the Federal 
Register on December 14, 2017, at 82 FR 59206 and was available for 
public review can comment. The FHWA received seven responses during the 
30-day public notice and comment period. None of the comments were 
substantive. The American Road and Transportation Builders Association 
voiced support of this program. The remaining six comments were 
unrelated to this report. This notice finalizes the findings of the 
fourth audit report for TxDOT participation in the Surface 
Transportation Project Delivery Program.

    Authority:  Section 1313 of Public Law 112-141; Section 6005 of 
Public Law 109-59; Public Law 114-94; 23 U.S.C. 327; 49 CFR 1.85.

    Issued on: April 3, 2018.
Brandye L. Hendrickson,
Acting Administrator, Federal Highway Administration.

Surface Transportation Project Delivery Program

FHWA Audit #4 of the Texas Department of Transportation

June 16, 2016 to August 1, 2017

Executive Summary

    This report summarizes the results of FHWA's fourth audit review 
(Audit #4) to assess the performance by the Texas Department of 
Transportation (TxDOT) regarding its assumption of responsibilities 
assigned by Federal Highway Administration (FHWA), under a 
memorandum of understanding (MOU) that took effect on December 16, 
2014. TxDOT assumed FHWA's National Environmental Policy Act (NEPA) 
responsibilities and other environmental review responsibilities 
related to Federal-aid highway projects in Texas. The status of 
FHWA's observations from the third audit review (Audit #3), 
including any TxDOT self-imposed corrective actions, is detailed at 
the end of this report. The FHWA Audit #4 team (team) appreciates 
the cooperation and professionalism of TxDOT staff in conducting 
this review.
    The team was formed in October 2016 and met regularly to prepare 
for the audit. Prior to the on-site visit, the team: (1) performed 
reviews of project files in TxDOT's Environmental Compliance 
Oversight System (ECOS), (2) examined TxDOT's responses to FHWA's 
information requests, and (3) developed interview questions. 
Interviews of TxDOT and resource agency staff occurred during the 
on-site portion of this audit, conducted on May 22-26, 2017.
    The TxDOT continues to develop, revise, and implement procedures 
and processes required to carry out the NEPA Assignment Program. 
Based on information provided by TxDOT and from interviews, TxDOT is 
committed to maintaining a successful program. This report describes 
two (2) categories of non-compliance observations and eight (8) 
observations that represent opportunities for TxDOT to improve its 
program. It also includes brief status updates of the Audit #3 
conclusions.
    The TxDOT has continued to make progress toward meeting the 
responsibilities it has assumed in accordance with the MOU. The non-
compliance observations identified in this review will require TxDOT 
to take corrective action. By taking corrective action and 
considering changes based on the observations in this report, TxDOT 
should continue to move the Surface Transportation Project Delivery 
Program (NEPA Assignment Program) forward successfully.

Background

    The NEPA Assignment Program allows a State to assume FHWA's 
environmental responsibilities for review, consultation, and 
compliance for highway projects. This program is codified at 23 
U.S.C. 327. When a State assumes these Federal responsibilities for 
NEPA project decision-making, the State

[[Page 15449]]

becomes solely responsible and liable for carrying out these 
obligations in lieu of, and without further NEPA related approval 
by, FHWA.
    The State of Texas was assigned the responsibility for making 
project NEPA approvals and the responsibility for making other 
related environmental decisions for highway projects on December 16, 
2014. 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 defend against any actions 
brought by its citizens for NEPA decisions it has made in Federal 
court.
    The FHWA project-specific environmental review responsibilities 
assigned to TxDOT are specified in the MOU. These responsibilities 
include: compliance with the Endangered Species Act (ESA), Section 7 
consultations with the U.S. Fish and Wildlife Service (USFWS) and 
the National Oceanic and Atmospheric Administration's National 
Marine Fisheries Service, and Section 106 consultations with the 
Texas Historical Commission (THC) regarding impacts to historic 
properties. Other responsibilities may not be assigned and remain 
with FHWA. They include: (1) responsibility for project-level 
conformity determinations under the Clean Air Act, and (2) the 
responsibility for government-to-government consultation with 
federally-recognized Indian Tribes. Based on 23 U.S.C. 327(a)(2)(D), 
any responsibility not explicitly assigned in the MOU is retained by 
FHWA.
    The MOU specifies that FHWA is required to conduct six audit 
reviews. These audits are part of FHWA's oversight responsibility 
for the NEPA Assignment Program. The reviews are to assess a State's 
compliance with the provisions of the MOU. They also are used to 
evaluate a State's progress toward achieving its performance 
measures as specified in the MOU; to evaluate the success of the 
NEPA Assignment Program; and to inform the administration of the 
findings regarding the NEPA Assignment Program. In December 2015, 
statutory changes in Section 1308 of the Fixing America's Surface 
Transportation Act (FAST Act) reduced the frequency of these audit 
reviews to one audit per year during the first 4 years of State 
participation in the program. This audit is the fourth completed in 
Texas. The fifth and final audit is planned for 2018.

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. Regarding 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. Principal members of the team that conducted this 
audit have completed special training in audit processes and 
methods.
    The diverse composition of the team and the process of 
developing the review report and publishing it in the Federal 
Register help to maintain an unbiased review and establish the audit 
as an official action taken by FHWA. The team for Audit #4 included 
NEPA subject-matter experts from the FHWA Texas Division Office, as 
well as FHWA offices in Washington, DC, Atlanta, GA, Charleston, SC, 
and Salt Lake City, UT. In addition to the NEPA experts, the team 
included FHWA planners, engineers, and air quality specialists from 
the Texas Division Office.
    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, 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 consider TxDOT's technical competency and organizational 
capacity, adequacy of the financial resources committed by TxDOT to 
administer the responsibilities assumed, quality assurance/quality 
control (QA/QC) process, attainment of performance measures, 
compliance with the MOU requirements, and compliance with applicable 
laws and policies in administering the responsibilities assumed.
    This audit reviewed processes and procedures (i.e., toolkits and 
handbooks) TxDOT staff use to process and make NEPA approvals. The 
information the team gathered that served as the basis for this 
audit came from three primary sources: (1) TxDOT's response to a 
pre-audit #4 information request (PAIR #4), (2) a review of both a 
judgmental and random sample of project files in ECOS with approval 
dates after February 1, 2016, and (3) interviews with TxDOT and the 
USFWS staff. The TxDOT provided information in response to FHWA pre-
audit questions and requests for documents and provided a written 
clarification to FHWA thereafter. That material covered the 
following six topics: program management, documentation and records 
management, quality assurance/quality control, legal sufficiency 
review, performance measurement, and training. In addition to 
considering these six topics, the team also considered the following 
topics: Endangered Species Act (ESA) compliance, consideration of 
noise impacts and noise mitigation (Noise), and adherence to the 
TxDOT Public Involvement plan.
    The intent of the review was to check that TxDOT has the proper 
procedures in place to implement the responsibilities assumed 
through the MOU, ensure that the staff is aware of those procedures, 
and make certain the staff implements the procedures appropriately 
to achieve compliance with NEPA and other assigned responsibilities. 
The review did not second guess project-specific decisions, as such 
decisions are the sole responsibility of TxDOT. The team focused on 
whether the procedures TxDOT followed complied with all Federal 
statutes, regulation, policy, procedure, process, guidance, and 
guidelines.
    The team defined the timeframe for highway project environmental 
approvals subject to this fourth audit to be between February 1, 
2016, and January 31, 2017. The project file review effort occurred 
in two phases: approvals made during Round 1 (Feb 1, 2016-July 31, 
2016) and Round 2 (Aug 1, 2016-Jan 31, 2017). One important note is 
that this audit project file review time frame spans a full 12 
months, where previous audits reviewed project approvals that 
spanned 6 months. The population of environmental approvals included 
224 projects based on 12 certified lists of NEPA approvals reported 
monthly by TxDOT. The NEPA project file approvals reviewed included: 
(1) categorical exclusion (CE) determinations, (2) approvals to 
circulate draft Environmental Assessments (EA), (3) findings of no 
significant impacts (FONSI), (4) re-evaluations of EAs, Section 4(f) 
decisions, (5) approvals of a draft environmental impact statement, 
and (6) re-evaluations of EISs and records of decision (ROD). 
Project files reviewed constitute a sample of randomly selected c-
listed CEs, and 100 percent of the following file approvals: 4(f) 
approvals; CE determinations for actions not listed in the ``c'' or 
``d'' lists; the FONSI and its EA; the ROD and its EIS; and re-
evaluations of these documents and approvals.
    The interviews conducted by the team focused on TxDOT's 
leadership and staff at the Environmental Affairs Division (ENV) 
Headquarters in Austin and staff in four of TxDOT's Districts. The 
team interviewed the Austin District and then divided into two 
groups (the next day) to complete the face-to-face interviews of 
district staff in Waco and San Antonio. Members of the team 
interviewed staff from the Ft. Worth District via teleconference. 
The team used the same ECOS project document review form but updated 
interview questions for districts and ENV staff with new focus areas 
to gather data.

Overall Audit Opinion

    The TxDOT continues to make progress in the implementation of 
its program that assumes FHWA's NEPA project-level decision 
responsibility and other environmental responsibilities. The team 
acknowledges TxDOT's effort to refine and, when necessary, establish 
additional written internal policies and procedures. The team found 
evidence of TxDOT's continuing efforts to train staff in clarifying 
the roles and responsibilities of TxDOT staff, and in educating 
staff in an effort to assure compliance with all of the assigned 
responsibilities.
    The team identified two non-compliant observations in this audit 
that TxDOT will need to address through corrective actions. These 
non-compliance observations come from a review of TxDOT procedures, 
project file documentation, and interview information. This report 
also identifies several notable observations and successful 
practices that we recommend be expanded.

Non-Compliance Observations

    Non-compliance observations are instances where the team found 
the TxDOT was out of

[[Page 15450]]

compliance or deficient in proper implementation of a Federal 
regulation, statute, guidance, policy, the terms of the MOU, or 
TxDOT's own procedures for compliance with the NEPA process. Such 
observations may also include instances where TxDOT has failed to 
maintain technical competency, adequate personnel, and/or financial 
resources to carry out the assumed responsibilities. Other non-
compliance observations could suggest a persistent failure to 
adequately consult, coordinate, or consider the concerns of other 
Federal, State, Tribal, or local agencies with oversight, 
consultation, or coordination responsibilities. The FHWA expects 
TxDOT to develop and implement corrective actions to address all 
non-compliance observations. As part of information gathered for 
this audit, TxDOT informed the team they are still implementing some 
recommendations made by FHWA on Audit #3 to address non-compliance. 
The FHWA will conduct follow-up reviews of non-compliance 
observations in Audit #5 from this review.
    The MOU (Part 3.1.1) states that ``[p]ursuant 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 USDOT Secretary's responsibilities for 
compliance with the National Environmental Policy Act of 1969 
(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 
1500-1508, DOT Order 5610.1C, and 23 CFR 771 as applicable.'' Also, 
the performance measure in MOU Part 10.2.1(A) for compliance with 
NEPA and other Federal environmental statutes and regulations 
commits TxDOT to maintaining documented compliance with requirements 
of all applicable statutes and regulations, as well as provisions in 
the MOU. The following non-compliance observations are presented as 
two categories of non-compliance observations: (1) with procedures 
specified in Federal laws, regulations, policy, or guidance, or (2) 
with the State's environmental review procedures.
    Audit #4 Non-Compliance Observation #1: Section 5.1.1 of the MOU 
requires the State to follow Federal laws, regulations, policy, and 
procedures to implement the responsibilities assumed. This review 
identified several examples of deficient adherence to these Federal 
procedures.
    a) Project scope analyzed for impacts differed from the scope 
approved
    Making an approval that includes actions not considered as part 
of environmental review is deficient according to the FHWA Technical 
Advisory 6640.8A. The scope of the FONSI cannot include actions not 
considered in the EA. This recurring deficiency was also identified 
for a project file in Audit #3.
    b) Plan consistency prior to NEPA approval
    Section 3.3.1 of the MOU requires that prior to approving any CE 
determination, FONSI, final EIS, or final EIS/ROD, TxDOT will ensure 
and document that the project is consistent with the current 
Transportation Improvement Plan, Regional Transportation Plan, or 
Metropolitan Transportation Plan. The team identified two projects 
where TxDOT made NEPA approval without meeting the MOU consistency 
requirement.
    c) Public Involvement
    The FHWA's regulation at 23 CFR 771.119(h) requires a second 
public notification to occur 30 days prior to issuing a FONSI. The 
team reviewed a project file where TxDOT approved a FONSI for an 
action described in 23 CFR 771.115(a) without evidence of a required 
additional public notification. TxDOT acknowledges this requirement 
in their updated public involvement handbook.
    d) Timing of NEPA approval
    One project file lacked documentation for Section 106 compliance 
prior to TxDOT making a NEPA approval. The FHWA regulation at 23 CFR 
771.133 expects compliance with all applicable laws or reasonable 
assurance all requirements will be met at the time of an approval.
    Audit #4 Non-Compliance Observation #2: Section 7.2.1 of the MOU 
requires the State to develop State procedures to implement the 
responsibilities assumed. This review identified several examples of 
deficient adherence to these state procedures.
    a) Reporting of approvals made by TxDOT
    MOU section 8.7.1 requires the State to certify on a list the 
approvals it makes pursuant to the terms of the MOU and Federal 
review requirements so FHWA knows which projects completed NEPA and 
are eligible for Federal-aid funding. The FHWA identified a project 
whose approval was made pursuant to State law and therefore should 
not have been on the certified list of projects eligible for 
Federal-aid funding. This is a recurrence from Audit #3.
    b) Noise workshop timing
    One project did not follow the TxDOT Noise guidelines for the 
timing of a required noise workshop. TxDOT improperly held a noise 
workshop months before the public hearing opportunity. The TxDOT 
noise guidelines (Guidelines for Analysis and Abatement of Roadway 
Traffic Noise, 2011) identifies procedures for compliance with 23 
CFR 772. This is a recurrence of the same non-compliance observation 
in Audit #3.
    c) Endangered Species Act Section 7
    The TxDOT provided training to staff and updated its Section 7 
compliance procedures, as part of a partnering effort after Audit #3 
between FHWA, TxDOT, and USFWS. However, one project was still not 
in compliance with the updated procedures.
    d) Indirect & Cumulative Impacts
    One project file reviewed by the team lacked the indirect and 
cumulative impact analysis that is expected according to TxDOTs 
indirect and cumulative impact evaluation procedures.
    e) Federal approval request for a State-funded project
    The review team reviewed a project file where TxDOT followed 
State environmental laws and then requested Federal-aid to purchase 
right-of-way. TxDOT informed the team that they are removing Federal 
funds from the ROW portion of this project as corrective action. 
This is a recurrence from Audit #3.

Successful Practices and Other Observations

    This section summarizes the team's observations about issues or 
practices that TxDOT may consider as areas to improve. It also 
summarizes practices that the team believes are successful, so that 
TxDOT can consider continuing or expanding those programs in the 
future. Further information on these successful practices and 
observations is contained in the following subsections that address 
these six topic areas: program management; documentation and records 
management; quality assurance/quality control; legal sufficiency; 
performance management; and training.
    Throughout the following subsections, the team lists eight 
observations for TxDOT to consider in order to make improvements. 
The FHWA's suggested implementation methods of action include: 
corrective action, targeted training, revising procedures, continued 
self-assessment, improved QA/QC, or some other means. The team 
acknowledges that, by sharing the preliminary draft audit report 
with TxDOT, TxDOT has begun the process of implementing actions to 
address these observations and improve its program prior to the 
publication of this report.

1. Program Management

Successful Practices and Observations

    The team appreciates TxDOT ENV willingness to partner with FHWA 
before, during, and after audit reviews. This has resulted in 
improved communication and assisted the team in verifying many of 
the conclusions in this report. The quarterly partnering sessions, 
started in 2016, will be an ongoing effort. These exchanges of 
information between FHWA and TxDOT have clarified and refined FHWA's 
reviews and assisted TxDOT's efforts to make improvements to their 
environmental review processes and procedures.
    The team noted in district and ENV staff interviews that they 
welcomed the opportunity to be responsible and accountable for NEPA 
decisions. In addition, TxDOT District staff members and management 
have said in interviews that they are more diligent with their 
documentation because they know that these approvals will be 
internally assessed and the district held accountable by the TxDOT 
ENV Program Review Team (formerly TxDOT's Self-Assessment Branch, 
[SAB]). District staff indicated in interviews that the former SAB 
detailed reviews were highly valued because they learned from their 
mistakes and make improvements. Accountability, in part, is driving 
an enhanced desire for TxDOT staff to consistently and carefully 
complete environmental reviews.
    The team recognizes enhanced communication among individuals in 
the project development process through the Core Team (a partnership 
of district and ENV environmental staff assigned to an individual 
EIS project) as a valuable concept. Information gained from 
interviews and materials provided by TxDOT in most cases demonstrate 
improved communication amongst districts and between districts and 
ENV. The team noted that ``NEPA Chats'' (regular conference calls 
led by ENV,

[[Page 15451]]

providing a platform for districts to discuss complex NEPA 
implementation issues) are still, for the most part, well received. 
Districts also provide internal self-initiated training across 
disciplines so everyone in the district office is aware of TxDOT 
procedures to try to ensure that staff follows NEPA-related, 
discipline specific processes. This keeps projects on-schedule or 
ensures that there are no surprises if projected schedules slip.
    Audit #4 Observation #1: Noise procedure clarification.
    TxDOT ENV is currently in the process of proposing an update to 
their Noise Guidelines. The team reviewed a project file where the 
decisions based on an original Noise Study were re-examined to reach 
a different conclusion. The current TxDOT Noise Guidelines do not 
address how, or under what conditions a re-examination of an 
original Noise Study report that reaches different conclusions could 
occur. The team urges TxDOT to clarify their Noise Guidelines to 
ensure consistent and fair and equitable treatment of stakeholders 
affected by highway noise impacts.
    Audit #4 Observation #2: Section 7 of the Endangered Species Act
    During the interviews, the review team learned that there is a 
disincentive for ``may affect'' determinations because TxDOT cannot 
predict the amount of time required to complete informal 
consultation. If a particular project's schedule could accommodate 
the time required for informal consultation, a ``may affect'' 
determination might be made to minimize a risk of a legal challenge.
    The review team would like to draw TxDOT's attention to the 
possibility that risk management decisionmaking can introduce a bias 
or ``disincentive'' to coordinate with USFWS when it is expected 
according to Federal policy and guidance. In fulfilling ESA Section 
7(a)(2) responsibilities, Congress intended the ``benefit of the 
doubt'' to be given to the species (H.R. Conf. Rep. 96-697, 96 
Cong., 1st sess. 1979).
    The team acknowledges that TxDOT plans to train staff on its 
revised ESA handbook and standard operating procedures (SOP), and 
this may inform staff of this bias. Through interviews, the team 
learned that in certain districts with sensitive habitats (i.e., 
karst) or the possibility of a species present (i.e., a salamander), 
ENV managers would review a project's information in addition to the 
district's and/or ENV biologists. This enhanced review process is 
currently limited only to two districts and could be expanded to 
include instances where such bias may occur.
    Audit #4 Observation #3: Project description and logical termini
    The team reviewed one project where the scope described in the 
NEPA document differed from what was proposed to be implemented. A 
proposed added capacity project's description indicated a longer 
terminus compared to a schematic. The team could not determine 
whether the description or the schematic accurately reflected the 
project proposal.
    A second reviewed project contained a description of the 
proposed project as the project's purpose instead of identifying a 
purpose that would accommodate more than one reasonable alternative. 
The team urges TxDOT to make reviewers aware of these challenges.

2. Documentation and Records Management

    The team relied on information in ECOS, TxDOT's official file of 
record, to evaluate project documentation and records management 
practices. Many TxDOT toolkit and handbook procedures mention the 
requirement to store official documentation in ECOS. The ECOS is 
also a tool for storage and management of information records, as 
well as for disclosure within TxDOT District Offices. ECOS is how 
TxDOT identifies and procures information required to be disclosed 
to, and requested by, the public. ECOS is being upgraded, and there 
are four more phased upgrades planned over time. The most recent 
work includes incorporation of a revised scope development tool, 
Biological Evaluation form, and new way to electronically approve a 
CE determination form in lieu of paper. The TxDOT staff noted that 
ECOS is both adaptable and flexible.

Successful Practices and Observations

    A number of successful practices demonstrated by TxDOT were 
evident as a result of the documentation and records management 
review. The team learned that ECOS continues to improve in download 
speed and compatibility. The team learned through interviews with 
TxDOT staff members that ENV is changing the scope development tool 
within ECOS and that functionality will improve. Some staff 
indicated that they also utilized the scope development tool to 
develop their own checklists to ensure that all environmental 
requirements have been met prior to making a NEPA approval.
    Audit #4 Observation #4: Record keeping integrity
    The team's review included project files that were incomplete 
because of missing or incorrect references that would link the files 
to environmental review documentation. TxDOT has indicated that they 
are working to address this problem. In addition to the issue of 
database links, the team identified a project file that lacked a 
record of required public involvement required per TxDOT procedures. 
The team learned from interviews that ENV and district staff do not 
consistently include such documentation in ECOS. Also, one reviewed 
project file had outdated data for threatened and endangered 
species. The team urges TxDOT staff to rely upon up to date and 
complete data in making project decisions.
    The team identified one project file where total project costs 
were not presented in the project documentation and EA documents 
were added after the FONSI was signed. The added EA documentation 
was editorial in nature. The team urges TxDOT to ensure the project 
file contains supportive documentation. Material that was not 
considered as part of the NEPA decision, and that was dated after 
the NEPA approval should not be included in a project's file.
    The team found a project file that had conflicting information 
about a detour. The review form indicated that no detour was 
proposed, but letters to a county agency said that a road would be 
closed, which would require addressing the need for a detour. Our 
review was unable to confirm the detour or whether the impact road 
closure was considered.

3. Quality Assurance/Quality Control (QA/QC)

Successful Practices and Observations

    The team observed some continued successful practices from 
previous audits in QA/QC. These successful practices include the use 
of established checklists, certifications, NEPA Chats, and the CORE 
Team concept (items described in previous audit reports). The TxDOT 
District Office environmental staff continue to do peer reviews of 
environmental decisions to double check the quality and accuracy of 
documentation. The Environmental Affairs Division has established a 
post-NEPA review team (performance review team) that was briefly 
mentioned in the Self-Assessment report to FHWA. Through our 
interviews, we learned that the team reaches out to ENVs own Section 
Directors and subject matter experts, in addition to District 
environmental staff, regarding their observations to improve the 
quality of documentation in future NEPA decisions. The FHWA team 
observed increased evidence in ECOS of documentation of 
collaboration illustrating the efforts to improve document quality 
and accuracy.
    Audit #4 Observation #5: Effectiveness and change in QA/QC
    Based on project file reviews, the team found errors and 
omissions that should have been identified and addressed through 
TxDOT quality control. Also, TxDOT's certified monthly list of 
project decisions contained errors, some of which were recurring.
    During this review period, the team was informed that TxDOT's 
approach to QA/QC had changed since the previous audit review. In 
audit #3, the team identified the Self-Assessment Branch (SAB) as a 
successful practice. TxDOT's response in the PAIR #4 indicated SAB 
was disbanded and ENV did not explain how its function would be 
replaced. Through interviews, the team learned that TxDOT had 
reorganized its SAB staff and modified its approach to QA/QC. This 
report identifies a higher number of observations that were either 
non-compliant or the result of missing or erroneous information 
compared to previous audits. The team could not assess the validity 
and relevance of TxDOT's self-assessment of QA/QC because TxDOT's 
methodology (sampling and timeframe) was not explained. Lastly, 
through interviews with district environmental staff, the team 
learned that they are unclear on how errors and omissions now 
identified by the new ``performance review team'' and ENV subject 
matter experts (SMEs) are to be resolved. The team urges TxDOT to 
evaluate its new approach to QA/QC with relevant and valid 
performance measures and to explain its approach to QA/QC to its 
staff.

[[Page 15452]]

4. Legal Sufficiency Review

    Based on the interviews with two of the General Counsel Division 
(GCD) staff and documentation review, the requirements for legal 
sufficiency under the MOU continue to be adequately fulfilled.
    There are five attorneys in TxDOT's GCD, with one serving as 
lead attorney. Additional assistance is provided by a consultant 
attorney who has delivered environmental legal assistance to ENV for 
several years and by an outside law firm. The contract for the 
outside law firm is currently going through a scheduled re-
procurement. The GCD assistance continues to be guided by ENVs 
Project Delivery Manual Sections 303.080 through 303.086. These 
sections provide guidance on conducting legal sufficiency review of 
FHWA-funded projects and those documents that are to be published in 
the Federal Register, such as the Notice of Intent (NOI) to prepare 
an EIS, Statute of Limitation (139(l)), and Notice of Availability 
of EIS.
    GCD continues to serve as a resource to ENV and the districts 
and is involved early in the development of large and complex 
projects. One example is the very large Houston District IH 45 
project around downtown Houston with an estimated cost of $4.5 
billion. The GCD lead attorney has been involved in the project and 
participated in the project's public hearing. GCD participates in 
the monthly NEPA chats and recently provided informal training 
during the chat on project scoping, logical termini, and independent 
utility.
    According to TxDOT's response to FHWA's PAIR #4, GCD staff has 
reviewed or been involved in legal review for eight projects. The 
ENV project delivery managers make requests for review of a document 
or assistance to the lead attorney, who then assigns that project to 
an attorney for legal review. Attorney comments are provided in the 
standard comment response matrix back to ENV and are reviewed by the 
lead attorney. All comments must be satisfactorily addressed for GCD 
to complete its legal sufficiency determination. The GCD does not 
issue conditional legal sufficiency determinations. Legal 
sufficiency is documented by email to ENV.
    A notable effort by GCD, in the last year, were the two lawsuits 
on TxDOT issued Federal environmental FONSI decision on the MOPAC 
intersections, the ongoing environmental process on the widening of 
south MOPAC, and State environmental decision on SH 45 SW. The 
lawsuit advanced only the Federal environmental decision on the 
MOPAC intersections. GCD worked first to develop the administrative 
record, having the numerous consultant and TxDOT staff provide 
documentation of their involvement on the MOPAC intersections 
project. Staff from GCD, Attorney General, and outside counsel then 
developed the voluminous record, which is their first since assuming 
NEPA responsibilities. The initial request by the plaintiffs for a 
preliminary injunction on the project was denied in Federal court, 
and, since a hearing on the merits was held later, they are awaiting 
the judge's decision. The FHWA and DOJ were notified, as 
appropriate, of the notices of pleadings through the court's PACE 
database.

Successful Practice

    ENV involves GCD early on projects and issues in need of their 
attention and expertise. Based on our discussions, GCD continues to 
be involved with the districts and ENV throughout the NEPA project 
development process, when needed, and addresses legal issues, as 
appropriate. Based on interview responses, observation, and the 
comments above, TxDOT's approach to legal sufficiency is adequate.

5. Performance Measurement

    TxDOT states in their self-assessment summary report that they 
achieved acceptable performance goals for all five performance-based 
performance metrics with the remaining seven performance goals 
remaining, consistent with the March 2016 self-assessment. The TxDOT 
continues to devote a high level of effort to develop the metrics to 
measure performance. During this audit, the team learned through 
interviews that the methodology employed to assess QA/QC performance 
had been revamped to the point that the results do not appear to be 
comparable with measures from previous years.

Successful Practices and Observations

    As part of TxDOT's response to the PAIR #4, TxDOT provided an 
alternate performance metric for EA timeframes that analyzed the 
distribution of EA durations for projects initiated and completed 
prior to assignment, initiated prior to assignment but completed 
after assignment, and ones initiated and completed after assignment. 
This creative approach identified both improved and diminished 
performance in EA timeframes for projects initiated before 
assignment but completed after assignment. TxDOT reports in their 
response to the PAIR #4 that, at a 95 percent confidence interval, 
comparing completion times for EA projects before and after 
assignment, the post-assignment median timeframe for completion is 
faster after assignment.
    Audit #4 Observation #6: Performance measure awareness and 
effectiveness
    The team noted through interviews of TxDOT District Office staff 
that many were unaware of TxDOT performance measures and their 
results. We encourage TxDOT environmental leadership to make these 
results available to their staff, if only as a means of feedback on 
performance. Overall, these measures are a positive reflection of 
actions taken by TxDOT staff, and sharing changes in performance 
measures may lead to improved performance.
    As mentioned above, the team learned that TxDOT's QA/QC 
methodology changed from that utilized since the previous audit. 
Previously, the measure reported the percent of project files 
determined to be complete and accurate, but included information on 
substantive errors made across different documents. Now the measure 
is limited only to the percent of project files determined to be 
complete that relies upon new yes/no/NA response questions whose 
result lacks an evaluation of the substantial-ness of errors of 
accuracy or completion. The team urges TxDOT to continue to analyze 
the information they are already collecting on the completeness and 
accuracy of project files as means of implementing information that 
usually leads to continuous improvement.

6. Training Program

    Since the period of the previous audit, TxDOT has revamped its 
on-line training program, as training courses content were out of 
date. Training continues to be offered to TxDOT staff informally 
through NEPA chats as well as through in-person instructor training. 
All of the training information for any individual TxDOT District 
staff environmental professional can be found on a TxDOT SharePoint 
site and is monitored by the training coordinator (especially the 
qualifications in the Texas Administrative Code). This makes it much 
more straightforward for third parties (including FHWA) to assess 
the district staff competency and exposure to training. Since Audit 
#3 TxDOT has increased the number of hours of training that staff 
are required to have to maintain environmental certification from 16 
to 32 hours. Based on interviews, we learned that some individuals 
had far exceeded the minimal number of training hours required. We 
learned that training hours could be earned by participating in the 
environmental conference, but with a stipulation that other sources 
of training would be required.

Successful Practices and Observations

    The team recognizes the following successful training practices. 
We learned from interviews that two TxDOT District Offices conduct 
annual training events for staff of local governments as a means to 
help them develop their own projects. This training identifies the 
TxDOT expectations for successful project development, including 
environmental review.
    Another successful practice we learned from interviews, and 
reported by TxDOT in the list of training scheduled, is that public 
involvement training has been revised to emphasize additional 
outreach that goes beyond the minimum requirements. The emphasis 
appears to be on achieving meaningful public engagement rather than 
simple public disclosure.
    Finally, the team would like to acknowledge that TxDOT has 
recognized and taken advantage of cross training that is a 
successful practice. The TxDOT ENV strategic planning coordinator 
informed us in an interview that he co-taught a class on planning 
consistency by adding an environmental component. The team taught 
how the planning issues relate to environmental review and 
compliance five or six times throughout the State. The ENV strategic 
planning coordinator is now working with the local government 
division to add an environment module to the Local Project 
Assistance class with specific discussion of environmental reviews 
(adding information on how to work with ENV at TxDOT, or how to find 
consultants who are approved to do work for TxDOT).
    Audit #4 Observation #7: Additional outreach on improvements.
    The team learned through interviews the value and importance of 
NEPA chats for informing ENV staff when there are changes

[[Page 15453]]

in procedures, guidance, or policy. For example, when the handbook 
for compliance with ESA was first completed, it was the subject of a 
NEPA chat. The team is aware of recent changes TxDOT made to the 
handbook related to a non-compliance related to ESA compliance. 
Based on information gained from interviews, the team learned that 
the changes to the ESA SOP/handbook were not followed by a NEPA 
chat. As a result, we confirmed that most of the TxDOT Biology SMEs 
were unaware of the handbook changes. The team appreciates that 
TxDOT has revised its ESA handbook and urges staff to implement 
training or other outreach to inform TxDOT staff of these revisions.
    Audit #4 Observation #8: FAST Act training.
    The Fixing America's Transportation (FAST) Act included several 
new statutory requirements for the environmental review process, as 
well as other changes that change NEPA procedures and requirements. 
The FHWA's Office of Project Development and Environmental Review 
has released some guidance on how to implement these requirements 
and anticipates releasing additional information. Even though 
additional information on these changes is forthcoming, States under 
NEPA assignment are required to implement these changes. The team 
learned through TxDOT's PAIR #4, and through interviews, that TxDOT 
has neither developed nor delivered training to its staff concerning 
new requirements for the FAST Act for environmental review. In 
response to this observation, TxDOT is currently collaborating with 
FHWA to develop a presentation on this topic for its annual 
environmental conference.

Status of Non-Compliance Observations and Other Observations from Audit 
#3 (April 2017)

Audit #3 Non-Compliance Observations

    1. Section 7 Consultation--TxDOT ENV made revisions to their ESA 
procedures that they have shared with FHWA and USFWS via partnering 
sessions. TxDOT implementation and training efforts are still 
pending by ENV management on the revised procedures to ENV and 
district staff.
    2. Noise Policy--TxDOT has informed the team that TxDOT is in 
the process of updating the 2011 Noise Guidelines. TxDOT will submit 
those guidelines to FHWA for review and approval once they are 
updated. TxDOT has not indicated whether they intend to provide 
training on these guidelines for TxDOT District Office and 
consultant staff.
    3. Public Involvement--TxDOT updated their FHWA approved 
Handbook in November 2016. There was one recurrence of a non-
compliant action that was reported in Audit #3 during Audit #4. 
TxDOT informed FHWA that ENV will request that FHWA review their 
Texas Administrative Code in lieu of their previous request that 
FHWA review only their Public Involvement Handbook.
    4. Section 4(f)--FHWA did not have any non-compliance 
observations in regards to TxDOT carrying out their assigned Section 
4(f) responsibilities during Audit #4.

Audit #3 Observations

    1. A certified project had an incomplete review--TxDOT continues 
to certify NEPA approvals for projects on a list provided to FHWA. 
This audit review identified an error of the inclusion of a project 
on a certified list.
    2. Inconsistent and contradictory information in some project 
files--TxDOT has made ECOS software upgrades recently that address 
this problem. This audit review continued to identify project file 
errors in the consistency of information.
    3. TxDOT's QA/QC performance measure could demonstrate 
continuous improvement--Since Audit #3, TxDOT has developed a new 
approach to the QA/QC performance measure. For CE reviews, the 
methodology is based on ``yes/no/NA'' answers to 50 questions (for 
EA projects there are 100 questions) based on requirements in the 
TxDOT handbooks. The measures are an average of the individual 
projects reviewed. TxDOT has not addressed how this new measure may 
demonstrate continuous improvement.
    4. Consider implementing more meaningful timeliness measures--
TxDOT's response to the pre-audit information request as well as in 
their self-assessment summary included detailed discussions of the 
timeliness measures for CEs as well as for EA projects that are 
meaningful.
    5. TxDOT's ability to monitor the certification and competency 
status of their qualified staff--TxDOT has included on its training 
SharePoint site a database that identifies each environmental staff 
member, a complete list of training they have completed, and when 
that training occurred. TxDOT's training coordinator is responsible 
for monitoring this database to ensure all staff maintain their 
competency and qualification status per State law as well as the 
ongoing training requirement specified by the ENV director.

Finalization of Report

    The FHWA received seven responses to the Federal Register Notice 
during the public comment period for this draft report. None of 
comments were substantive; one from the American Road and 
Transportation Builders Association voiced support of this program. 
Six comments were unrelated to this report. This report is a 
finalized draft version of this report without substantive changes.

[FR Doc. 2018-07293 Filed 4-9-18; 8:45 am]
 BILLING CODE 4910-22-P



                                               15448                          Federal Register / Vol. 83, No. 69 / Tuesday, April 10, 2018 / Notices

                                               ratings, minimally have 750 hours of                    Electronic Access                                       Issued on: April 3, 2018.
                                               flight time, and 100 hours of cross                                                                           Brandye L. Hendrickson,
                                               country time of which 25 hours must be                    An electronic copy of this notice may               Acting Administrator, Federal Highway
                                               at night. The petitioner proposes to limit              be downloaded from the specific docket                Administration.
                                               the scheduled flights to visual flight                  page at www.regulations.gov.
                                                                                                                                                             Surface Transportation Project Delivery
                                               rules, scheduled duration of 30 minutes                 Background                                            Program
                                               or less and less than 50 nautical miles.
                                               VAL operates a small regional airline                                                                         FHWA Audit #4 of the Texas Department of
                                                                                                          The Surface Transportation Project
                                                                                                                                                             Transportation
                                               providing transportation between Puerto                 Delivery Program allows a State to
                                               Rico’s contiguous islands of Vieques                    assume FHWA’s environmental                           June 16, 2016 to August 1, 2017
                                               and Culebra and the main island of                      responsibilities for review, consultation,            Executive Summary
                                               Puerto Rico for critical services with                  and compliance for Federal highway                       This report summarizes the results of
                                               limited other transportation options.                   projects. This provision has been                     FHWA’s fourth audit review (Audit #4) to
                                               [FR Doc. 2018–07300 Filed 4–9–18; 8:45 am]              codified at 23 U.S.C. 327. Since                      assess the performance by the Texas
                                               BILLING CODE 4910–13–P                                  December 16, 2014, TxDOT has                          Department of Transportation (TxDOT)
                                                                                                       assumed FHWA’s responsibilities under                 regarding its assumption of responsibilities
                                                                                                                                                             assigned by Federal Highway Administration
                                                                                                       the National Environmental Policy Act                 (FHWA), under a memorandum of
                                               DEPARTMENT OF TRANSPORTATION                            of 1969 and the responsibilities for                  understanding (MOU) that took effect on
                                               Federal Highway Administration                          reviews under other Federal                           December 16, 2014. TxDOT assumed
                                                                                                       environmental requirements under this                 FHWA’s National Environmental Policy Act
                                                                                                       authority.                                            (NEPA) responsibilities and other
                                               [FHWA Docket No. FHWA–2017–0038]                                                                              environmental review responsibilities related
                                                                                                          Prior to December 4, 2015, 23 U.S.C.               to Federal-aid highway projects in Texas. The
                                               Surface Transportation Project                          327(g) required the Secretary to conduct              status of FHWA’s observations from the third
                                               Delivery Program; TxDOT Audit #4                        semiannual audits during each of the                  audit review (Audit #3), including any
                                               Report                                                  first 2 years of State participation,                 TxDOT self-imposed corrective actions, is
                                                                                                       annual audits during years 3 and 4, and               detailed at the end of this report. The FHWA
                                               AGENCY:Federal Highway                                  monitoring each subsequent year of                    Audit #4 team (team) appreciates the
                                               Administration (FHWA), DOT.                                                                                   cooperation and professionalism of TxDOT
                                                                                                       State participation to ensure compliance              staff in conducting this review.
                                               ACTION:   Notice.                                       by each State participating in the                       The team was formed in October 2016 and
                                                                                                       program. The results of each audit were               met regularly to prepare for the audit. Prior
                                               SUMMARY:   The Surface Transportation                   required to be presented in the form of               to the on-site visit, the team: (1) performed
                                               Project Delivery Program allows a State                 an audit report and be made available                 reviews of project files in TxDOT’s
                                               to assume FHWA’s environmental                          for public comment. On December 4,                    Environmental Compliance Oversight System
                                               responsibilities for review, consultation,                                                                    (ECOS), (2) examined TxDOT’s responses to
                                                                                                       2015, the President signed into law the
                                               and compliance for Federal highway                                                                            FHWA’s information requests, and (3)
                                                                                                       FAST Act, Public Law 114–94, 129 Stat.                developed interview questions. Interviews of
                                               projects. When a State assumes these                    1312 (2015). Section 1308 of the FAST                 TxDOT and resource agency staff occurred
                                               Federal responsibilities, the State                     Act amended the audit provisions by                   during the on-site portion of this audit,
                                               becomes solely responsible and liable                   limiting the number of audits to one                  conducted on May 22–26, 2017.
                                               for carrying out the responsibilities it                audit each year during the first 4 years                 The TxDOT continues to develop, revise,
                                               has assumed, in lieu of FHWA. Prior to                  of a State’s participation.                           and implement procedures and processes
                                               the Fixing America’s Surface                                                                                  required to carry out the NEPA Assignment
                                               Transportation (FAST) Act of 2015, the                     A draft version of this report was                 Program. Based on information provided by
                                               Program required semiannual audits                      published in the Federal Register on                  TxDOT and from interviews, TxDOT is
                                               during each of the first 2 years of State               December 14, 2017, at 82 FR 59206 and                 committed to maintaining a successful
                                                                                                       was available for public review can                   program. This report describes two (2)
                                               participation to ensure compliance by                                                                         categories of non-compliance observations
                                               each State participating in the Program.                comment. The FHWA received seven                      and eight (8) observations that represent
                                               This notice finalizes the findings of the               responses during the 30-day public                    opportunities for TxDOT to improve its
                                               fourth audit report for the Texas                       notice and comment period. None of the                program. It also includes brief status updates
                                               Department of Transportation’s                          comments were substantive. The                        of the Audit #3 conclusions.
                                               (TxDOT) participation in accordance                     American Road and Transportation                         The TxDOT has continued to make
                                               with these pre-FAST Act requirements.                   Builders Association voiced support of                progress toward meeting the responsibilities
                                                                                                                                                             it has assumed in accordance with the MOU.
                                               FOR FURTHER INFORMATION CONTACT:     Dr.                this program. The remaining six
                                                                                                                                                             The non-compliance observations identified
                                               Owen Lindauer, Office of Project                        comments were unrelated to this report.               in this review will require TxDOT to take
                                               Development and Environmental                           This notice finalizes the findings of the             corrective action. By taking corrective action
                                               Review, (202) 366–2655,                                 fourth audit report for TxDOT                         and considering changes based on the
                                               owen.lindauer@dot.gov, or Mr. Jomar                     participation in the Surface                          observations in this report, TxDOT should
                                               Maldonado, Office of the Chief Counsel,                 Transportation Project Delivery                       continue to move the Surface Transportation
                                                                                                       Program.                                              Project Delivery Program (NEPA Assignment
                                               (202) 366–1373, jomar.maldonado@
                                                                                                                                                             Program) forward successfully.
                                               dot.gov, Federal Highway                                  Authority: Section 1313 of Public Law
                                                                                                                                                             Background
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                                               Administration, U.S. Department of                      112–141; Section 6005 of Public Law 109–59;
                                               Transportation, 1200 New Jersey                         Public Law 114–94; 23 U.S.C. 327; 49 CFR                The NEPA Assignment Program allows a
                                               Avenue SE, Washington, DC 20590.                        1.85.                                                 State to assume FHWA’s environmental
                                               Office hours are from 8:00 a.m. to 4:30                                                                       responsibilities for review, consultation, and
                                               p.m., e.t., Monday through Friday,                                                                            compliance for highway projects. This
                                               except Federal holidays.                                                                                      program is codified at 23 U.S.C. 327. When
                                                                                                                                                             a State assumes these Federal responsibilities
                                               SUPPLEMENTARY INFORMATION:                                                                                    for NEPA project decision-making, the State



                                          VerDate Sep<11>2014   16:56 Apr 09, 2018   Jkt 244001   PO 00000   Frm 00095   Fmt 4703   Sfmt 4703   E:\FR\FM\10APN1.SGM   10APN1


                                                                              Federal Register / Vol. 83, No. 69 / Tuesday, April 10, 2018 / Notices                                                   15449

                                               becomes solely responsible and liable for               team that conducted this audit have                      The team defined the timeframe for
                                               carrying out these obligations in lieu of, and          completed special training in audit processes         highway project environmental approvals
                                               without further NEPA related approval by,               and methods.                                          subject to this fourth audit to be between
                                               FHWA.                                                      The diverse composition of the team and            February 1, 2016, and January 31, 2017. The
                                                  The State of Texas was assigned the                  the process of developing the review report           project file review effort occurred in two
                                               responsibility for making project NEPA                  and publishing it in the Federal Register             phases: approvals made during Round 1 (Feb
                                               approvals and the responsibility for making             help to maintain an unbiased review and               1, 2016–July 31, 2016) and Round 2 (Aug 1,
                                               other related environmental decisions for               establish the audit as an official action taken       2016–Jan 31, 2017). One important note is
                                               highway projects on December 16, 2014. In               by FHWA. The team for Audit #4 included               that this audit project file review time frame
                                               enacting Texas Transportation Code,                     NEPA subject-matter experts from the FHWA             spans a full 12 months, where previous
                                               § 201.6035, the State has waived its sovereign          Texas Division Office, as well as FHWA                audits reviewed project approvals that
                                               immunity under the 11th Amendment of the                offices in Washington, DC, Atlanta, GA,               spanned 6 months. The population of
                                               U.S. Constitution and consents to defend                Charleston, SC, and Salt Lake City, UT. In            environmental approvals included 224
                                               against any actions brought by its citizens for         addition to the NEPA experts, the team                projects based on 12 certified lists of NEPA
                                               NEPA decisions it has made in Federal court.            included FHWA planners, engineers, and air            approvals reported monthly by TxDOT. The
                                                  The FHWA project-specific environmental              quality specialists from the Texas Division           NEPA project file approvals reviewed
                                               review responsibilities assigned to TxDOT               Office.                                               included: (1) categorical exclusion (CE)
                                               are specified in the MOU. These                            Audits, as stated in the MOU (Parts 11.1.1         determinations, (2) approvals to circulate
                                               responsibilities include: compliance with the           and 11.1.5), are the primary mechanism used           draft Environmental Assessments (EA), (3)
                                               Endangered Species Act (ESA), Section 7                 by FHWA to oversee TxDOT’s compliance                 findings of no significant impacts (FONSI),
                                               consultations with the U.S. Fish and Wildlife           with the MOU, evaluate TxDOT’s progress               (4) re-evaluations of EAs, Section 4(f)
                                               Service (USFWS) and the National Oceanic                toward achieving the performance measures
                                                                                                                                                             decisions, (5) approvals of a draft
                                               and Atmospheric Administration’s National               identified in the MOU (Part 10.2), and collect
                                                                                                                                                             environmental impact statement, and (6) re-
                                               Marine Fisheries Service, and Section 106               information needed for the Secretary’s
                                                                                                                                                             evaluations of EISs and records of decision
                                               consultations with the Texas Historical                 annual report to Congress. These audits also
                                                                                                                                                             (ROD). Project files reviewed constitute a
                                               Commission (THC) regarding impacts to                   consider TxDOT’s technical competency and
                                                                                                       organizational capacity, adequacy of the              sample of randomly selected c-listed CEs,
                                               historic properties. Other responsibilities                                                                   and 100 percent of the following file
                                                                                                       financial resources committed by TxDOT to
                                               may not be assigned and remain with FHWA.                                                                     approvals: 4(f) approvals; CE determinations
                                                                                                       administer the responsibilities assumed,
                                               They include: (1) responsibility for project-                                                                 for actions not listed in the ‘‘c’’ or ‘‘d’’ lists;
                                                                                                       quality assurance/quality control (QA/QC)
                                               level conformity determinations under the                                                                     the FONSI and its EA; the ROD and its EIS;
                                                                                                       process, attainment of performance measures,
                                               Clean Air Act, and (2) the responsibility for           compliance with the MOU requirements, and             and re-evaluations of these documents and
                                               government-to-government consultation with              compliance with applicable laws and                   approvals.
                                               federally-recognized Indian Tribes. Based on            policies in administering the responsibilities           The interviews conducted by the team
                                               23 U.S.C. 327(a)(2)(D), any responsibility not          assumed.                                              focused on TxDOT’s leadership and staff at
                                               explicitly assigned in the MOU is retained by              This audit reviewed processes and                  the Environmental Affairs Division (ENV)
                                               FHWA.                                                   procedures (i.e., toolkits and handbooks)             Headquarters in Austin and staff in four of
                                                  The MOU specifies that FHWA is required              TxDOT staff use to process and make NEPA              TxDOT’s Districts. The team interviewed the
                                               to conduct six audit reviews. These audits              approvals. The information the team gathered          Austin District and then divided into two
                                               are part of FHWA’s oversight responsibility             that served as the basis for this audit came          groups (the next day) to complete the face-
                                               for the NEPA Assignment Program. The                    from three primary sources: (1) TxDOT’s               to-face interviews of district staff in Waco
                                               reviews are to assess a State’s compliance              response to a pre-audit #4 information                and San Antonio. Members of the team
                                               with the provisions of the MOU. They also               request (PAIR #4), (2) a review of both a             interviewed staff from the Ft. Worth District
                                               are used to evaluate a State’s progress toward          judgmental and random sample of project               via teleconference. The team used the same
                                               achieving its performance measures as                   files in ECOS with approval dates after               ECOS project document review form but
                                               specified in the MOU; to evaluate the success           February 1, 2016, and (3) interviews with             updated interview questions for districts and
                                               of the NEPA Assignment Program; and to                  TxDOT and the USFWS staff. The TxDOT                  ENV staff with new focus areas to gather
                                               inform the administration of the findings               provided information in response to FHWA              data.
                                               regarding the NEPA Assignment Program. In               pre-audit questions and requests for
                                               December 2015, statutory changes in Section                                                                   Overall Audit Opinion
                                                                                                       documents and provided a written
                                               1308 of the Fixing America’s Surface                    clarification to FHWA thereafter. That                   The TxDOT continues to make progress in
                                               Transportation Act (FAST Act) reduced the               material covered the following six topics:            the implementation of its program that
                                               frequency of these audit reviews to one audit           program management, documentation and                 assumes FHWA’s NEPA project-level
                                               per year during the first 4 years of State              records management, quality assurance/                decision responsibility and other
                                               participation in the program. This audit is             quality control, legal sufficiency review,            environmental responsibilities. The team
                                               the fourth completed in Texas. The fifth and            performance measurement, and training. In             acknowledges TxDOT’s effort to refine and,
                                               final audit is planned for 2018.                        addition to considering these six topics, the         when necessary, establish additional written
                                                                                                       team also considered the following topics:            internal policies and procedures. The team
                                               Scope and methodology                                                                                         found evidence of TxDOT’s continuing
                                                                                                       Endangered Species Act (ESA) compliance,
                                                 The overall scope of this audit review is             consideration of noise impacts and noise              efforts to train staff in clarifying the roles and
                                               defined both in statute (23 U.S.C. 327) and             mitigation (Noise), and adherence to the              responsibilities of TxDOT staff, and in
                                               the MOU (Part 11). An audit generally is                TxDOT Public Involvement plan.                        educating staff in an effort to assure
                                               defined as an official and careful                         The intent of the review was to check that         compliance with all of the assigned
                                               examination and verification of accounts and            TxDOT has the proper procedures in place to           responsibilities.
                                               records, especially of financial accounts, by           implement the responsibilities assumed                   The team identified two non-compliant
                                               an independent, unbiased body. Regarding                through the MOU, ensure that the staff is             observations in this audit that TxDOT will
                                               accounts or financial records, audits may               aware of those procedures, and make certain           need to address through corrective actions.
                                               follow a prescribed process or methodology,             the staff implements the procedures                   These non-compliance observations come
                                               and be conducted by ‘‘auditors’’ who have               appropriately to achieve compliance with              from a review of TxDOT procedures, project
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                                               special training in those processes or                  NEPA and other assigned responsibilities.             file documentation, and interview
                                               methods. The FHWA considers this review to              The review did not second guess project-              information. This report also identifies
                                               meet the definition of an audit because it is           specific decisions, as such decisions are the         several notable observations and successful
                                               an unbiased, independent, official, and                 sole responsibility of TxDOT. The team                practices that we recommend be expanded.
                                               careful examination and verification of                 focused on whether the procedures TxDOT
                                               records and information about TxDOT’s                   followed complied with all Federal statutes,          Non-Compliance Observations
                                               assumption of environmental                             regulation, policy, procedure, process,                Non-compliance observations are instances
                                               responsibilities. Principal members of the              guidance, and guidelines.                             where the team found the TxDOT was out of



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                                               15450                          Federal Register / Vol. 83, No. 69 / Tuesday, April 10, 2018 / Notices

                                               compliance or deficient in proper                       Improvement Plan, Regional Transportation             Successful Practices and Other Observations
                                               implementation of a Federal regulation,                 Plan, or Metropolitan Transportation Plan.               This section summarizes the team’s
                                               statute, guidance, policy, the terms of the             The team identified two projects where                observations about issues or practices that
                                               MOU, or TxDOT’s own procedures for                      TxDOT made NEPA approval without                      TxDOT may consider as areas to improve. It
                                               compliance with the NEPA process. Such                  meeting the MOU consistency requirement.              also summarizes practices that the team
                                               observations may also include instances                    c) Public Involvement                              believes are successful, so that TxDOT can
                                               where TxDOT has failed to maintain                         The FHWA’s regulation at 23 CFR                    consider continuing or expanding those
                                               technical competency, adequate personnel,               771.119(h) requires a second public                   programs in the future. Further information
                                               and/or financial resources to carry out the             notification to occur 30 days prior to issuing        on these successful practices and
                                               assumed responsibilities. Other non-                    a FONSI. The team reviewed a project file             observations is contained in the following
                                               compliance observations could suggest a                 where TxDOT approved a FONSI for an                   subsections that address these six topic areas:
                                               persistent failure to adequately consult,               action described in 23 CFR 771.115(a)
                                                                                                                                                             program management; documentation and
                                               coordinate, or consider the concerns of other           without evidence of a required additional
                                                                                                                                                             records management; quality assurance/
                                               Federal, State, Tribal, or local agencies with          public notification. TxDOT acknowledges
                                                                                                                                                             quality control; legal sufficiency;
                                               oversight, consultation, or coordination                this requirement in their updated public
                                                                                                                                                             performance management; and training.
                                               responsibilities. The FHWA expects TxDOT                involvement handbook.
                                                                                                                                                                Throughout the following subsections, the
                                               to develop and implement corrective actions                d) Timing of NEPA approval
                                                                                                                                                             team lists eight observations for TxDOT to
                                               to address all non-compliance observations.                One project file lacked documentation for
                                                                                                                                                             consider in order to make improvements. The
                                               As part of information gathered for this audit,         Section 106 compliance prior to TxDOT
                                                                                                                                                             FHWA’s suggested implementation methods
                                               TxDOT informed the team they are still                  making a NEPA approval. The FHWA
                                                                                                       regulation at 23 CFR 771.133 expects                  of action include: corrective action, targeted
                                               implementing some recommendations made
                                                                                                       compliance with all applicable laws or                training, revising procedures, continued self-
                                               by FHWA on Audit #3 to address non-
                                                                                                       reasonable assurance all requirements will be         assessment, improved QA/QC, or some other
                                               compliance. The FHWA will conduct follow-
                                                                                                       met at the time of an approval.                       means. The team acknowledges that, by
                                               up reviews of non-compliance observations
                                                                                                          Audit #4 Non-Compliance Observation #2:            sharing the preliminary draft audit report
                                               in Audit #5 from this review.
                                                                                                       Section 7.2.1 of the MOU requires the State           with TxDOT, TxDOT has begun the process
                                                  The MOU (Part 3.1.1) states that
                                                                                                       to develop State procedures to implement the          of implementing actions to address these
                                               ‘‘[p]ursuant to 23 U.S.C. 327(a)(2)(A), on the
                                                                                                       responsibilities assumed. This review                 observations and improve its program prior
                                               Effective Date, FHWA assigns, and TxDOT
                                                                                                       identified several examples of deficient              to the publication of this report.
                                               assumes, subject to the terms and conditions
                                               set forth in 23 U.S.C. 327 and this MOU, all            adherence to these state procedures.                  1. Program Management
                                               of the USDOT Secretary’s responsibilities for              a) Reporting of approvals made by TxDOT
                                               compliance with the National Environmental                 MOU section 8.7.1 requires the State to            Successful Practices and Observations
                                               Policy Act of 1969 (NEPA), 42 U.S.C. 4321               certify on a list the approvals it makes                 The team appreciates TxDOT ENV
                                               et seq. with respect to the highway projects            pursuant to the terms of the MOU and                  willingness to partner with FHWA before,
                                               specified under subpart 3.3. This includes              Federal review requirements so FHWA                   during, and after audit reviews. This has
                                               statutory provisions, regulations, policies,            knows which projects completed NEPA and               resulted in improved communication and
                                               and guidance related to the implementation              are eligible for Federal-aid funding. The             assisted the team in verifying many of the
                                               of NEPA for Federal highway projects such               FHWA identified a project whose approval              conclusions in this report. The quarterly
                                               as 23 U.S.C. 139, 40 CFR 1500–1508, DOT                 was made pursuant to State law and therefore          partnering sessions, started in 2016, will be
                                               Order 5610.1C, and 23 CFR 771 as                        should not have been on the certified list of         an ongoing effort. These exchanges of
                                               applicable.’’ Also, the performance measure             projects eligible for Federal-aid funding. This       information between FHWA and TxDOT
                                               in MOU Part 10.2.1(A) for compliance with               is a recurrence from Audit #3.                        have clarified and refined FHWA’s reviews
                                               NEPA and other Federal environmental                       b) Noise workshop timing                           and assisted TxDOT’s efforts to make
                                               statutes and regulations commits TxDOT to                  One project did not follow the TxDOT               improvements to their environmental review
                                               maintaining documented compliance with                  Noise guidelines for the timing of a required         processes and procedures.
                                               requirements of all applicable statutes and             noise workshop. TxDOT improperly held a                  The team noted in district and ENV staff
                                               regulations, as well as provisions in the               noise workshop months before the public               interviews that they welcomed the
                                               MOU. The following non-compliance                       hearing opportunity. The TxDOT noise                  opportunity to be responsible and
                                               observations are presented as two categories            guidelines (Guidelines for Analysis and               accountable for NEPA decisions. In addition,
                                               of non-compliance observations: (1) with                Abatement of Roadway Traffic Noise, 2011)             TxDOT District staff members and
                                               procedures specified in Federal laws,                   identifies procedures for compliance with 23          management have said in interviews that
                                               regulations, policy, or guidance, or (2) with           CFR 772. This is a recurrence of the same             they are more diligent with their
                                               the State’s environmental review procedures.            non-compliance observation in Audit #3.               documentation because they know that these
                                                  Audit #4 Non-Compliance Observation #1:                 c) Endangered Species Act Section 7                approvals will be internally assessed and the
                                               Section 5.1.1 of the MOU requires the State                The TxDOT provided training to staff and           district held accountable by the TxDOT ENV
                                               to follow Federal laws, regulations, policy,            updated its Section 7 compliance procedures,          Program Review Team (formerly TxDOT’s
                                               and procedures to implement the                         as part of a partnering effort after Audit #3         Self-Assessment Branch, [SAB]). District staff
                                               responsibilities assumed. This review                   between FHWA, TxDOT, and USFWS.                       indicated in interviews that the former SAB
                                               identified several examples of deficient                However, one project was still not in                 detailed reviews were highly valued because
                                               adherence to these Federal procedures.                  compliance with the updated procedures.               they learned from their mistakes and make
                                                  a) Project scope analyzed for impacts                   d) Indirect & Cumulative Impacts                   improvements. Accountability, in part, is
                                               differed from the scope approved                           One project file reviewed by the team              driving an enhanced desire for TxDOT staff
                                                  Making an approval that includes actions             lacked the indirect and cumulative impact             to consistently and carefully complete
                                               not considered as part of environmental                 analysis that is expected according to                environmental reviews.
                                               review is deficient according to the FHWA               TxDOTs indirect and cumulative impact                    The team recognizes enhanced
                                               Technical Advisory 6640.8A. The scope of                evaluation procedures.                                communication among individuals in the
                                               the FONSI cannot include actions not                       e) Federal approval request for a State-           project development process through the
                                               considered in the EA. This recurring                    funded project                                        Core Team (a partnership of district and ENV
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                                               deficiency was also identified for a project               The review team reviewed a project file            environmental staff assigned to an individual
                                               file in Audit #3.                                       where TxDOT followed State environmental              EIS project) as a valuable concept.
                                                  b) Plan consistency prior to NEPA approval           laws and then requested Federal-aid to                Information gained from interviews and
                                                  Section 3.3.1 of the MOU requires that               purchase right-of-way. TxDOT informed the             materials provided by TxDOT in most cases
                                               prior to approving any CE determination,                team that they are removing Federal funds             demonstrate improved communication
                                               FONSI, final EIS, or final EIS/ROD, TxDOT               from the ROW portion of this project as               amongst districts and between districts and
                                               will ensure and document that the project is            corrective action. This is a recurrence from          ENV. The team noted that ‘‘NEPA Chats’’
                                               consistent with the current Transportation              Audit #3.                                             (regular conference calls led by ENV,



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                                                                              Federal Register / Vol. 83, No. 69 / Tuesday, April 10, 2018 / Notices                                              15451

                                               providing a platform for districts to discuss           project’s purpose instead of identifying a            review form indicated that no detour was
                                               complex NEPA implementation issues) are                 purpose that would accommodate more than              proposed, but letters to a county agency said
                                               still, for the most part, well received.                one reasonable alternative. The team urges            that a road would be closed, which would
                                               Districts also provide internal self-initiated          TxDOT to make reviewers aware of these                require addressing the need for a detour. Our
                                               training across disciplines so everyone in the          challenges.                                           review was unable to confirm the detour or
                                               district office is aware of TxDOT procedures                                                                  whether the impact road closure was
                                               to try to ensure that staff follows NEPA-               2. Documentation and Records Management
                                                                                                                                                             considered.
                                               related, discipline specific processes. This               The team relied on information in ECOS,
                                               keeps projects on-schedule or ensures that              TxDOT’s official file of record, to evaluate          3. Quality Assurance/Quality Control (QA/
                                               there are no surprises if projected schedules           project documentation and records                     QC)
                                               slip.                                                   management practices. Many TxDOT toolkit              Successful Practices and Observations
                                                  Audit #4 Observation #1: Noise procedure             and handbook procedures mention the
                                               clarification.                                          requirement to store official documentation             The team observed some continued
                                                  TxDOT ENV is currently in the process of             in ECOS. The ECOS is also a tool for storage          successful practices from previous audits in
                                               proposing an update to their Noise                      and management of information records, as             QA/QC. These successful practices include
                                               Guidelines. The team reviewed a project file            well as for disclosure within TxDOT District          the use of established checklists,
                                               where the decisions based on an original                Offices. ECOS is how TxDOT identifies and             certifications, NEPA Chats, and the CORE
                                               Noise Study were re-examined to reach a                 procures information required to be disclosed         Team concept (items described in previous
                                               different conclusion. The current TxDOT                 to, and requested by, the public. ECOS is             audit reports). The TxDOT District Office
                                               Noise Guidelines do not address how, or                 being upgraded, and there are four more               environmental staff continue to do peer
                                               under what conditions a re-examination of an            phased upgrades planned over time. The                reviews of environmental decisions to double
                                               original Noise Study report that reaches                most recent work includes incorporation of a          check the quality and accuracy of
                                               different conclusions could occur. The team             revised scope development tool, Biological            documentation. The Environmental Affairs
                                               urges TxDOT to clarify their Noise                      Evaluation form, and new way to                       Division has established a post-NEPA review
                                               Guidelines to ensure consistent and fair and            electronically approve a CE determination             team (performance review team) that was
                                               equitable treatment of stakeholders affected            form in lieu of paper. The TxDOT staff noted          briefly mentioned in the Self-Assessment
                                               by highway noise impacts.                               that ECOS is both adaptable and flexible.             report to FHWA. Through our interviews, we
                                                  Audit #4 Observation #2: Section 7 of the                                                                  learned that the team reaches out to ENVs
                                               Endangered Species Act                                  Successful Practices and Observations
                                                                                                                                                             own Section Directors and subject matter
                                                  During the interviews, the review team                  A number of successful practices                   experts, in addition to District environmental
                                               learned that there is a disincentive for ‘‘may          demonstrated by TxDOT were evident as a               staff, regarding their observations to improve
                                               affect’’ determinations because TxDOT                   result of the documentation and records               the quality of documentation in future NEPA
                                               cannot predict the amount of time required              management review. The team learned that              decisions. The FHWA team observed
                                               to complete informal consultation. If a                 ECOS continues to improve in download                 increased evidence in ECOS of
                                               particular project’s schedule could                     speed and compatibility. The team learned             documentation of collaboration illustrating
                                               accommodate the time required for informal              through interviews with TxDOT staff                   the efforts to improve document quality and
                                               consultation, a ‘‘may affect’’ determination            members that ENV is changing the scope                accuracy.
                                               might be made to minimize a risk of a legal             development tool within ECOS and that                   Audit #4 Observation #5: Effectiveness and
                                               challenge.                                              functionality will improve. Some staff                change in QA/QC
                                                  The review team would like to draw                   indicated that they also utilized the scope
                                                                                                                                                               Based on project file reviews, the team
                                               TxDOT’s attention to the possibility that risk          development tool to develop their own
                                                                                                                                                             found errors and omissions that should have
                                               management decisionmaking can introduce a               checklists to ensure that all environmental
                                                                                                                                                             been identified and addressed through
                                               bias or ‘‘disincentive’’ to coordinate with             requirements have been met prior to making
                                                                                                                                                             TxDOT quality control. Also, TxDOT’s
                                               USFWS when it is expected according to                  a NEPA approval.
                                                                                                                                                             certified monthly list of project decisions
                                               Federal policy and guidance. In fulfilling                 Audit #4 Observation #4: Record keeping
                                               ESA Section 7(a)(2) responsibilities, Congress          integrity                                             contained errors, some of which were
                                               intended the ‘‘benefit of the doubt’’ to be                The team’s review included project files           recurring.
                                               given to the species (H.R. Conf. Rep. 96–697,           that were incomplete because of missing or              During this review period, the team was
                                               96 Cong., 1st sess. 1979).                              incorrect references that would link the files        informed that TxDOT’s approach to QA/QC
                                                  The team acknowledges that TxDOT plans               to environmental review documentation.                had changed since the previous audit review.
                                               to train staff on its revised ESA handbook              TxDOT has indicated that they are working             In audit #3, the team identified the Self-
                                               and standard operating procedures (SOP),                to address this problem. In addition to the           Assessment Branch (SAB) as a successful
                                               and this may inform staff of this bias.                 issue of database links, the team identified a        practice. TxDOT’s response in the PAIR #4
                                               Through interviews, the team learned that in            project file that lacked a record of required         indicated SAB was disbanded and ENV did
                                               certain districts with sensitive habitats (i.e.,        public involvement required per TxDOT                 not explain how its function would be
                                               karst) or the possibility of a species present          procedures. The team learned from                     replaced. Through interviews, the team
                                               (i.e., a salamander), ENV managers would                interviews that ENV and district staff do not         learned that TxDOT had reorganized its SAB
                                               review a project’s information in addition to           consistently include such documentation in            staff and modified its approach to QA/QC.
                                               the district’s and/or ENV biologists. This              ECOS. Also, one reviewed project file had             This report identifies a higher number of
                                               enhanced review process is currently limited            outdated data for threatened and endangered           observations that were either non-compliant
                                               only to two districts and could be expanded             species. The team urges TxDOT staff to rely           or the result of missing or erroneous
                                               to include instances where such bias may                upon up to date and complete data in making           information compared to previous audits.
                                               occur.                                                  project decisions.                                    The team could not assess the validity and
                                                  Audit #4 Observation #3: Project                        The team identified one project file where         relevance of TxDOT’s self-assessment of QA/
                                               description and logical termini                         total project costs were not presented in the         QC because TxDOT’s methodology (sampling
                                                  The team reviewed one project where the              project documentation and EA documents                and timeframe) was not explained. Lastly,
                                               scope described in the NEPA document                    were added after the FONSI was signed. The            through interviews with district
                                               differed from what was proposed to be                   added EA documentation was editorial in               environmental staff, the team learned that
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                                               implemented. A proposed added capacity                  nature. The team urges TxDOT to ensure the            they are unclear on how errors and omissions
                                               project’s description indicated a longer                project file contains supportive                      now identified by the new ‘‘performance
                                               terminus compared to a schematic. The team              documentation. Material that was not                  review team’’ and ENV subject matter experts
                                               could not determine whether the description             considered as part of the NEPA decision, and          (SMEs) are to be resolved. The team urges
                                               or the schematic accurately reflected the               that was dated after the NEPA approval                TxDOT to evaluate its new approach to QA/
                                               project proposal.                                       should not be included in a project’s file.           QC with relevant and valid performance
                                                  A second reviewed project contained a                   The team found a project file that had             measures and to explain its approach to QA/
                                               description of the proposed project as the              conflicting information about a detour. The           QC to its staff.



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                                               15452                          Federal Register / Vol. 83, No. 69 / Tuesday, April 10, 2018 / Notices

                                               4. Legal Sufficiency Review                             Successful Practice                                   completeness and accuracy of project files as
                                                  Based on the interviews with two of the                 ENV involves GCD early on projects and             means of implementing information that
                                               General Counsel Division (GCD) staff and                issues in need of their attention and                 usually leads to continuous improvement.
                                               documentation review, the requirements for              expertise. Based on our discussions, GCD              6. Training Program
                                               legal sufficiency under the MOU continue to             continues to be involved with the districts
                                               be adequately fulfilled.                                and ENV throughout the NEPA project                      Since the period of the previous audit,
                                                  There are five attorneys in TxDOT’s GCD,             development process, when needed, and                 TxDOT has revamped its on-line training
                                               with one serving as lead attorney. Additional           addresses legal issues, as appropriate. Based         program, as training courses content were out
                                               assistance is provided by a consultant                  on interview responses, observation, and the          of date. Training continues to be offered to
                                               attorney who has delivered environmental                comments above, TxDOT’s approach to legal             TxDOT staff informally through NEPA chats
                                               legal assistance to ENV for several years and           sufficiency is adequate.                              as well as through in-person instructor
                                               by an outside law firm. The contract for the                                                                  training. All of the training information for
                                                                                                       5. Performance Measurement                            any individual TxDOT District staff
                                               outside law firm is currently going through
                                               a scheduled re-procurement. The GCD                        TxDOT states in their self-assessment              environmental professional can be found on
                                               assistance continues to be guided by ENVs               summary report that they achieved                     a TxDOT SharePoint site and is monitored by
                                               Project Delivery Manual Sections 303.080                acceptable performance goals for all five             the training coordinator (especially the
                                               through 303.086. These sections provide                 performance-based performance metrics with            qualifications in the Texas Administrative
                                               guidance on conducting legal sufficiency                the remaining seven performance goals                 Code). This makes it much more
                                               review of FHWA-funded projects and those                remaining, consistent with the March 2016             straightforward for third parties (including
                                               documents that are to be published in the               self-assessment. The TxDOT continues to               FHWA) to assess the district staff
                                               Federal Register, such as the Notice of Intent          devote a high level of effort to develop the          competency and exposure to training. Since
                                               (NOI) to prepare an EIS, Statute of Limitation          metrics to measure performance. During this           Audit #3 TxDOT has increased the number
                                               (139(l)), and Notice of Availability of EIS.            audit, the team learned through interviews            of hours of training that staff are required to
                                                  GCD continues to serve as a resource to              that the methodology employed to assess               have to maintain environmental certification
                                               ENV and the districts and is involved early             QA/QC performance had been revamped to                from 16 to 32 hours. Based on interviews, we
                                               in the development of large and complex                 the point that the results do not appear to be        learned that some individuals had far
                                               projects. One example is the very large                 comparable with measures from previous                exceeded the minimal number of training
                                               Houston District IH 45 project around                   years.                                                hours required. We learned that training
                                               downtown Houston with an estimated cost of                                                                    hours could be earned by participating in the
                                                                                                       Successful Practices and Observations                 environmental conference, but with a
                                               $4.5 billion. The GCD lead attorney has been
                                               involved in the project and participated in                As part of TxDOT’s response to the PAIR            stipulation that other sources of training
                                               the project’s public hearing. GCD participates          #4, TxDOT provided an alternate                       would be required.
                                               in the monthly NEPA chats and recently                  performance metric for EA timeframes that
                                                                                                       analyzed the distribution of EA durations for         Successful Practices and Observations
                                               provided informal training during the chat on
                                               project scoping, logical termini, and                   projects initiated and completed prior to                The team recognizes the following
                                               independent utility.                                    assignment, initiated prior to assignment but         successful training practices. We learned
                                                  According to TxDOT’s response to FHWA’s              completed after assignment, and ones                  from interviews that two TxDOT District
                                               PAIR #4, GCD staff has reviewed or been                 initiated and completed after assignment.             Offices conduct annual training events for
                                               involved in legal review for eight projects.            This creative approach identified both                staff of local governments as a means to help
                                               The ENV project delivery managers make                  improved and diminished performance in EA             them develop their own projects. This
                                               requests for review of a document or                    timeframes for projects initiated before              training identifies the TxDOT expectations
                                               assistance to the lead attorney, who then               assignment but completed after assignment.            for successful project development, including
                                               assigns that project to an attorney for legal           TxDOT reports in their response to the PAIR           environmental review.
                                               review. Attorney comments are provided in               #4 that, at a 95 percent confidence interval,            Another successful practice we learned
                                               the standard comment response matrix back               comparing completion times for EA projects            from interviews, and reported by TxDOT in
                                               to ENV and are reviewed by the lead                     before and after assignment, the post-                the list of training scheduled, is that public
                                               attorney. All comments must be satisfactorily           assignment median timeframe for completion            involvement training has been revised to
                                               addressed for GCD to complete its legal                 is faster after assignment.                           emphasize additional outreach that goes
                                               sufficiency determination. The GCD does not                Audit #4 Observation #6: Performance               beyond the minimum requirements. The
                                               issue conditional legal sufficiency                     measure awareness and effectiveness                   emphasis appears to be on achieving
                                               determinations. Legal sufficiency is                       The team noted through interviews of               meaningful public engagement rather than
                                               documented by email to ENV.                             TxDOT District Office staff that many were            simple public disclosure.
                                                  A notable effort by GCD, in the last year,           unaware of TxDOT performance measures                    Finally, the team would like to
                                               were the two lawsuits on TxDOT issued                   and their results. We encourage TxDOT                 acknowledge that TxDOT has recognized and
                                               Federal environmental FONSI decision on                 environmental leadership to make these                taken advantage of cross training that is a
                                               the MOPAC intersections, the ongoing                    results available to their staff, if only as a        successful practice. The TxDOT ENV
                                               environmental process on the widening of                means of feedback on performance. Overall,            strategic planning coordinator informed us in
                                               south MOPAC, and State environmental                    these measures are a positive reflection of           an interview that he co-taught a class on
                                               decision on SH 45 SW. The lawsuit advanced              actions taken by TxDOT staff, and sharing             planning consistency by adding an
                                               only the Federal environmental decision on              changes in performance measures may lead              environmental component. The team taught
                                               the MOPAC intersections. GCD worked first               to improved performance.                              how the planning issues relate to
                                               to develop the administrative record, having               As mentioned above, the team learned that          environmental review and compliance five or
                                               the numerous consultant and TxDOT staff                 TxDOT’s QA/QC methodology changed from                six times throughout the State. The ENV
                                               provide documentation of their involvement              that utilized since the previous audit.               strategic planning coordinator is now
                                               on the MOPAC intersections project. Staff               Previously, the measure reported the percent          working with the local government division
                                               from GCD, Attorney General, and outside                 of project files determined to be complete            to add an environment module to the Local
                                               counsel then developed the voluminous                   and accurate, but included information on             Project Assistance class with specific
                                               record, which is their first since assuming             substantive errors made across different              discussion of environmental reviews (adding
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                                               NEPA responsibilities. The initial request by           documents. Now the measure is limited only            information on how to work with ENV at
                                               the plaintiffs for a preliminary injunction on          to the percent of project files determined to         TxDOT, or how to find consultants who are
                                               the project was denied in Federal court, and,           be complete that relies upon new yes/no/NA            approved to do work for TxDOT).
                                               since a hearing on the merits was held later,           response questions whose result lacks an                 Audit #4 Observation #7: Additional
                                               they are awaiting the judge’s decision. The             evaluation of the substantial-ness of errors of       outreach on improvements.
                                               FHWA and DOJ were notified, as                          accuracy or completion. The team urges                   The team learned through interviews the
                                               appropriate, of the notices of pleadings                TxDOT to continue to analyze the                      value and importance of NEPA chats for
                                               through the court’s PACE database.                      information they are already collecting on the        informing ENV staff when there are changes



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                                                                              Federal Register / Vol. 83, No. 69 / Tuesday, April 10, 2018 / Notices                                          15453

                                               in procedures, guidance, or policy. For                 Audit #3 Observations                                 U.S.C. 3501 et seq.), this notice
                                               example, when the handbook for compliance                  1. A certified project had an incomplete           announces that the Information
                                               with ESA was first completed, it was the                review—TxDOT continues to certify NEPA                Collection Requirements (ICRs)
                                               subject of a NEPA chat. The team is aware               approvals for projects on a list provided to          abstracted below have been forwarded
                                               of recent changes TxDOT made to the                     FHWA. This audit review identified an error
                                               handbook related to a non-compliance                                                                          to the Office of Management and Budget
                                                                                                       of the inclusion of a project on a certified list.    (OMB) for review and comment. The
                                               related to ESA compliance. Based on                        2. Inconsistent and contradictory
                                               information gained from interviews, the team                                                                  ICR describe the nature of the
                                                                                                       information in some project files—TxDOT
                                               learned that the changes to the ESA SOP/                has made ECOS software upgrades recently
                                                                                                                                                             information collection and their
                                               handbook were not followed by a NEPA chat.              that address this problem. This audit review          expected burdens. The Federal Register
                                               As a result, we confirmed that most of the              continued to identify project file errors in the      notice with a 60-day comment period
                                               TxDOT Biology SMEs were unaware of the                  consistency of information.                           soliciting comments on the following
                                               handbook changes. The team appreciates that                                                                   collections of information was
                                                                                                          3. TxDOT’s QA/QC performance measure
                                               TxDOT has revised its ESA handbook and
                                               urges staff to implement training or other
                                                                                                       could demonstrate continuous                          published on December 11, 2017 (82 FR
                                                                                                       improvement—Since Audit #3, TxDOT has                 58270).
                                               outreach to inform TxDOT staff of these
                                                                                                       developed a new approach to the QA/QC                 DATES: Comments must be submitted on
                                               revisions.
                                                                                                       performance measure. For CE reviews, the
                                                  Audit #4 Observation #8: FAST Act
                                                                                                       methodology is based on ‘‘yes/no/NA’’
                                                                                                                                                             or before May 10, 2018.
                                               training.                                                                                                     FOR FURTHER INFORMATION CONTACT: Tia
                                                                                                       answers to 50 questions (for EA projects there
                                                  The Fixing America’s Transportation                                                                        Swain, Office of Administration,
                                                                                                       are 100 questions) based on requirements in
                                               (FAST) Act included several new statutory
                                               requirements for the environmental review
                                                                                                       the TxDOT handbooks. The measures are an              Management Planning Division, 1200
                                               process, as well as other changes that change           average of the individual projects reviewed.          New Jersey Avenue SE, Mail Stop TAD–
                                               NEPA procedures and requirements. The                   TxDOT has not addressed how this new                  10, Washington, DC 20590, (202) 366–
                                               FHWA’s Office of Project Development and                measure may demonstrate continuous                    0354 or tia.swain@dot.gov.
                                               Environmental Review has released some                  improvement.
                                                                                                                                                             SUPPLEMENTARY INFORMATION: The
                                               guidance on how to implement these                         4. Consider implementing more meaningful
                                                                                                       timeliness measures—TxDOT’s response to               Paperwork Reduction Act of 1995
                                               requirements and anticipates releasing                                                                        (PRA), Public Law 104–13, Section 2,
                                               additional information. Even though                     the pre-audit information request as well as
                                               additional information on these changes is              in their self-assessment summary included             109 Stat. 163 (1995) (codified as revised
                                               forthcoming, States under NEPA assignment               detailed discussions of the timeliness                at 44 U.S.C. 3501–3520), and its
                                               are required to implement these changes. The            measures for CEs as well as for EA projects           implementing regulations, 5 CFR part
                                               team learned through TxDOT’s PAIR #4, and               that are meaningful.                                  1320, require Federal agencies to issue
                                               through interviews, that TxDOT has neither                 5. TxDOT’s ability to monitor the                  two notices seeking public comment on
                                               developed nor delivered training to its staff           certification and competency status of their
                                                                                                                                                             information collection activities before
                                               concerning new requirements for the FAST                qualified staff—TxDOT has included on its
                                                                                                       training SharePoint site a database that              OMB may approve paperwork packages.
                                               Act for environmental review. In response to                                                                  44 U.S.C. 3506, 3507; 5 CFR 1320.5,
                                               this observation, TxDOT is currently                    identifies each environmental staff member,
                                               collaborating with FHWA to develop a                    a complete list of training they have                 1320.8(d)(1), 1320.12. On December 11,
                                               presentation on this topic for its annual               completed, and when that training occurred.           2017, FTA published a 60-day notice
                                               environmental conference.                               TxDOT’s training coordinator is responsible           (82 FR 27958) in the Federal Register
                                                                                                       for monitoring this database to ensure all            soliciting comments on the ICR that the
                                               Status of Non-Compliance Observations and               staff maintain their competency and                   agency was seeking OMB approval. FTA
                                               Other Observations from Audit #3 (April                 qualification status per State law as well as
                                               2017)                                                                                                         received (1) comment after issuing this
                                                                                                       the ongoing training requirement specified by
                                                                                                                                                             60-day notice. However, that comment
                                               Audit #3 Non-Compliance Observations                    the ENV director.
                                                                                                                                                             was posted five days after the comment
                                                  1. Section 7 Consultation—TxDOT ENV                  Finalization of Report                                period expired and the comment was
                                               made revisions to their ESA procedures that                The FHWA received seven responses to the           outside the scope of the Paperwork
                                               they have shared with FHWA and USFWS                    Federal Register Notice during the public             Reduction Act and made no reference to
                                               via partnering sessions. TxDOT                          comment period for this draft report. None of         the grant program or any FTA related
                                               implementation and training efforts are still           comments were substantive; one from the
                                               pending by ENV management on the revised
                                                                                                                                                             programs. Accordingly, DOT announces
                                                                                                       American Road and Transportation Builders
                                               procedures to ENV and district staff.                   Association voiced support of this program.           that these information collection
                                                  2. Noise Policy—TxDOT has informed the               Six comments were unrelated to this report.           activities have been re-evaluated and
                                               team that TxDOT is in the process of                    This report is a finalized draft version of this      certified under 5 CFR 1320.5(a) and
                                               updating the 2011 Noise Guidelines. TxDOT               report without substantive changes.                   forwarded to OMB for review and
                                               will submit those guidelines to FHWA for                                                                      approval pursuant to 5 CFR 1320.12(c).
                                                                                                       [FR Doc. 2018–07293 Filed 4–9–18; 8:45 am]
                                               review and approval once they are updated.                                                                       Before OMB decides whether to
                                               TxDOT has not indicated whether they                    BILLING CODE 4910–22–P
                                                                                                                                                             approve these proposed collections of
                                               intend to provide training on these                                                                           information, it must provide 30 days for
                                               guidelines for TxDOT District Office and
                                               consultant staff.                                       DEPARTMENT OF TRANSPORTATION                          public comment. 44 U.S.C. 3507(b); 5
                                                  3. Public Involvement—TxDOT updated                                                                        CFR 1320.12(d). Federal law requires
                                               their FHWA approved Handbook in                         Federal Transit Administration                        OMB to approve or disapprove
                                               November 2016. There was one recurrence of                                                                    paperwork packages between 30 and 60
                                               a non-compliant action that was reported in             [FTA Docket No. FTA 2018–0002]                        days after the 30-day notice is
                                               Audit #3 during Audit #4. TxDOT informed                                                                      published. 44 U.S.C. 3507 (b)–(c); 5 CFR
                                               FHWA that ENV will request that FHWA                    Agency Information Collection Activity
                                                                                                                                                             1320.12(d); see also 60 FR 44978, 44983,
daltland on DSKBBV9HB2PROD with NOTICES




                                               review their Texas Administrative Code in               Under OMB Review
                                                                                                                                                             Aug. 29, 1995. OMB believes that the
                                               lieu of their previous request that FHWA
                                                                                                       AGENCY:    Federal Transit Administration,            30-day notice informs the regulated
                                               review only their Public Involvement
                                               Handbook.                                               DOT.                                                  community to file relevant comments
                                                  4. Section 4(f)—FHWA did not have any                ACTION:   Notice of request for comments.             and affords the agency adequate time to
                                               non-compliance observations in regards to                                                                     digest public comments before it
                                               TxDOT carrying out their assigned Section               SUMMARY: In compliance with the                       renders a decision. 60 FR 44983, Aug.
                                               4(f) responsibilities during Audit #4.                  Paperwork Reduction Act of 1995 (44                   29, 1995. Therefore, respondents should


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Document Created: 2018-04-09 23:51:56
Document Modified: 2018-04-09 23:51:56
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.
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, U.S. 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 Citation83 FR 15448 

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