HomeMy WebLinkAboutItem 01 Springfield 2030 Comprehensive Plan ATT3 Letter 2DIVISION OF
STATE LANDS
October 6, 1992
STATE LAND BOARD
BARBARA ROBERTS
David B. Barrows Governor
Director, Environmental Sciences PHIL KEISLINGSecretary of State
Woodward -Clyde Consultants
ANTxoNYState
111 SW Columbia, Suite 990 -
MEEKER
State Treasurer
Portland, OR 997201
Re: Wetland Delineation Weyerhaeuser Mill, Springfield
T17S, R2W, Section 32
Dear Dave:
I have reviewed the above referenced wetland delineation.
The delineation involves a broad variety of created
lagoons, ponds, and other waterway/wetland sites. Based
on the information presented and personal knowledge of the
site, the Division of State Lands will treat the following
sites as indicated:
Aeration/Stabilization Basin - Not regulated under Oregon's
gm
775 Summer Street NE
Salem, OR 97310- 1337
503) 378-3805
FAX (503) 378-4844
Removal -Fill Law
No. 2 Pond Not regulated under Oregon's
Removal -Fill Law
Surge Pond Not regulated under Oregon's
Removal -Fill Law
Log Pond Not regulated under Oregon's
Removal -Fill Law
Sludge Basin No. 1 Not regulated under Oregon's
Removal -Fill Law
Sludge Basin No. 2 Not regulated under Oregon's
Removal -Fill Law
Sludge Basin No. 3 Not regulated under Oregon's
Removal -Fill Law
Cooling Ponds Not regulated under Oregon's
Removal -Fill Law
McKenzie Slough Removal filling subject to
Oregon's Removal -Fill Law of
ORS 141-85-010
gm
775 Summer Street NE
Salem, OR 97310- 1337
503) 378-3805
FAX (503) 378-4844
Attachment 3, Page 2 of 664
The Administrative Rules of OAR 141-85-010 exempt the
application of the law to the above sites because they do not
meet the criteria established as "other bodies of water".
We would encourage you to advise Weyerhaeuser Co. that
protection of wetlands established in the cooling ponds should
be explored. The proposal to utilize the Sludge Basins or log
pond to an aeration basin would not be regulated by the
Division of State Lands. You should consult with the Corps of
Engineers on the application of their regulatory program to the
sites.
To clarify your reports in the future, I would suggest that you
refer to Oregon's Removal -Fill Law as ORS 196.800 - 196.990
page 2-1). Additionally, the soils mapped for the area
including Newburg, Cloquato, Chehalis, Chapman and Camas, are
not hydric soils.
If you have any questions concerning this letter, please call.
Sincerely,
Kenneth F. Bierly
Wetlands Program Manager
KFB/jp
ken:150
cc: Jim Goudzwaard, Corps of Engineers
Attachment 3, Page 3 of 664
1 SCALE 1:24 000
1 p 0 1 MILE
1000 0 1000 2000 3000 4000 5000 6000 7000 FEET
1 .5 0 1 KILOMETER
Weyerhaeuser Springfield
Site Location
Figure 1
86
S V892
Attachment 3, Page 4 of 664
I-105
R2UBH
PUBFx
03
O
Cooling Ponds
Aeration/Stabilization Basin
07 at mouth of
McKenzie Slough
d
WO
04
o
0 2
Cj
PUBKx
W Surge PondIPSSCw
V!' No. 2 Pond
PUBKx
Weyerhaeuser Springfield Facility
Log Pond
PUBKx
0
Sludge Basin #1
National Wetlands Inventory (USFWS, 1982)
Wetland modifiers:
L lacustrine
P palustrine
R riverine
1 limnetic
2 lower perennial b
UB unconsolidated bottom c
K artificially flooded `r
H permanently flooded
C seasonally flooded
F semipermanently flooded
SS scrub -shrub
x excavated
0 sampling location
W = wetland (observed from data)
Main St.
Sludge Basin #3
w0
0
PUBKx
Sludge
Basin #2
WO _U
L1UBKx
Weyerhaeuser Property Boundary
4,
Scale: 1" = 500' N
Sampling Locations and
Nation Wetlands Inventory Modifiers
Figure 2
Attachment 3, Page 5 of 664