92-000246
William Nassau vs.
Vernon And Irene Beckham, Utilities Commission Of New Smyrna Beach, Volusia City-County Water Supply Authority, And St. Johns River Water Management District
Status: Closed
Recommended Order on Wednesday, May 13, 1992.
Recommended Order on Wednesday, May 13, 1992.
1STATE OF FLORIDA
4DIVISION OF ADMINISTRATIVE HEARINGS
8WILLIAM NASSAU, )
11)
12Petitioner, )
14)
15vs. ) CASE NO. 92-0246
20) SJRWMD File of
24VERNON & IRENE BECKHAM, UTILITIES ) Record No. 91-1132
33COMMISSION OF NEW SMYRNA BEACH, VOLUSIA )
40CITY-COUNTY WATER SUPPLY AUTHORITY, and )
46ST. JOHNS RIVER WATER MANAGEMENT )
52DISTRICT; )
54)
55Respondents. )
57________________________________________)
58RECOMMENDED ORDER
60Pursuant to notice, a formal hearing was held in this case on March 24-26,
741992, in New Smyrna Beach, Florida, before the Division of Administrative
85Hearings, by its designated Hearing Officer, Diane K. Kiesling.
94APPEARANCES
95For Petitioner, William Nassau, Pro Se
101William Nassau: 4680 Cedar Road
106New Smyrna Beach, Florida 32168
111For Respondent, Nancy B. Barnard and Eric Olsen
119St. Johns River Water Attorneys at Law
126Management District: St. Johns River Water
132Management District
134Post Office Box 1429
138Palatka, Florida 32178-1429
141For Respondent, Roger Sims, Rory Ryan and
148Utilities Commission Lynda Goodgame
152of New Smyrna Beach: Attorneys at Law
159HOLLAND & KNIGHT
162Post Office Box 1526
166Orlando, Florida 32802
169STATEMENT OF ISSUES
172The disputed issues are as follows:
1781) Whether the proposed Water Conservation Plan is sufficient to meet the
190requirements of the District rule;
1952) Whether the proposed pumping will adversely affect wetlands and wetland
206vegetation in contravention of District rule;
2123) Whether the permit applicant has provided reasonable assurance of
222entitlement to the requested permit as required by the District rule; and
2344) What limiting conditions pursuant to Rule 40C-2.381, F.A.C., should be
245imposed on the Consumptive Use Permit (CUP).
252PRELIMINARY STATEMENT
254The following acronyms or names will be used in this Recommended Order:
"266Commission" for the Utilities Commission of New Smyrna Beach.
"275District" for the St. Johns River Water Management District.
"284SR 44 wellfield" for the proposed wellfield at SR44 and CR4118.
"295APT" for Aquifer Performance Test.
300The following abbreviations for technical terms will be used:
309gpcpd for gallon per capita per day
316mgd for million gallons per day
322mg/l for milligrams per liter
327gfpd for gallons per feet per day
334bls for below land surface
339The Commission is seeking permission to withdraw an annual average daily
350rate of 5.29 mgd and a maximum daily rate of 7.62 mgd. Subject to certain
365limiting conditions to be set forth in the Commission's consumptive use permit,
377the water will be produced from Floridan Aquifer wells. The District proposes
389to grant the permit application with certain specified conditions. William
399Nassau challenges the issuance of a permit to the Commission on the basis of the
414Commission's alleged failure to comply with the applicable requirements of
424Chapter 373, Florida Statutes, and Chapter 40C-2, Florida Administrative Code,
434and other applicable law.
438At the final hearing, the Commission presented the following witnesses:
448George Sheeter, accepted as an expert in water project planning and civil
460engineering; Peter Korelich, accepted as an expert in public water system
471planning, operation and engineering; Joel Kimrey, accepted as an expert in
482hydrogeology, hydrology and water resources; Michael Dennis, accepted as an
492expert in wetland ecology, biology, threatened and endangered species and
502wildlife evaluation; and Stephen Kintner, accepted as an expert in hydrogeology
513and water resource planning.
517The Commission's Exhibits 1 through 30 were admitted in evidence.
527The Petitioner presented the following expert witnesses: Victor Carlisle,
536accepted as an engineer in soil genesis and classification; William Sinclair,
547accepted as an expert in hydrogeology; and Sydney T. Bacchus, accepted as an
560expert in botany and wetland ecology. The Petitioner presented the following
571non-expert witnesses: Charles Tibbles, William Nassau, Richard Wagner, Florence
580Bailey and Jeff Smith.
584Petitioner's Exhibits 2, 3, 4, 6, 44 and 45 were admitted in evidence.
597The District presented the following witnesses: Richard Levin, accepted as
607an expert in accepted as an expert in geology, hydrogeology and groundwater
619modeling; Lance D. Hart, accepted as an expert in wetlands ecology, plant
631ecology and environmental impact assessment; and Doug Dycus, accepted as an
642expert in civil engineering with expertise in surface water drainage patterns.
653The District's Exhibits 1, 2, 4, 7A, 7B, 7C, 7D, 8A, and 8B were admitted
668in evidence.
670A motion for Official Recognition of Chapters 90, 120, and 373, Florida
682Statutes, Chapters 22I-6, 28-5, 40C-1, 40C-2, and 17-40, Florida Administrative
692Code, and the St. Johns River Water Management District's Applicant's Handbook
703on consumptive uses of water was GRANTED.
710The transcript was filed on April 13, 1992. All parties timely filed their
723proposed findings of fact and conclusions of law. All proposed findings of fact
736and conclusions of law have been considered. A specific ruling on each proposed
749finding of fact is made in the Appendix attached hereto and made a part of this
765Recommended Order.
767On May 6, 1992, Petitioner filed a Motion for Reconsideration of
778Evidentiary Rulings and Motion for New Hearing. Both are hereby DENIED.
789On May 7, 1992, the Commission filed a Motion for Determination of Improper
802Purposes and Award of Attorney's Fees and Costs. Appropriate findings of fact
814and conclusions of law are set forth infra, and based thereon, the Motion is
828hereby DENIED.
830FINDINGS OF FACT
833I. THE PARTIES
8361. The Commission was created by the legislature pursuant to Public Law
84867-1754 in combination with Public Law 85-503. Its principal office is located
860in New Smyrna Beach, Volusia County, Florida.
8672. The Commission is charged with maintaining a water supply and providing
879wastewater treatment and electrical power.
8843. The District is an agency created pursuant to Chapter 373, Florida
896Statutes, in charge of regulating, among other things, consumptive uses of water
908in a 19 county area of the State of Florida, including all of Volusia County.
923The geographical boundaries of the District are described in Section
933373.069(2)(c), Florida Statutes.
9364. Vernon and Irene Beckham are property owners of the property proposed
948for the construction of the new State Road 44 wellfield.
9585. Volusia City-County Water Supply Authority is a cooperative created by
969interlocal agreement in accordance with Section 163.01, Florida Statutes (1991),
979which party made no appearance at the Formal Administrative hearing but adopted
991the position of the Commission.
9966. Nassau is an individual residing at 4680 Cedar Road, New Smyrna Beach,
1009Florida.
1010II. THE APPLICATION
10137. The present service area of the Commission encompasses approximately 43
1024square miles, of which only about 15 square miles of the service area are
1038located in the City of New Smyrna Beach.
10468. On August 8, 1984, the District issued Consumptive Use Permit No. 2-
1059127-0214NG to the Commission for its Glencoe and Samsula wellfields, which
1070permit would expire in seven years.
10769. The combined authorized withdrawal of the existing wellfields is 5.2
1087mgd on an average day and 8.31 mgd on a maximum day.
109910. In December 1990, the Commission submitted its Consumptive Use Permit
1110Application to renew the existing permit, including the development of an
1121additional water supply wellfield.
112511. This application also sought an increased allocation to meet projected
1136demand for the Commission's service area. The total allocation sought was 5.59
1148mgd on an average day and 8.31 mgd on a maximum day. However, the District has
1164recommended 5.29 mgd on an average day and 7.62 mgd on a maximum day by 1998.
118012. The source of the water for all three wellfields is the Floridan
1193aquifer.
119413. The Floridan aquifer can produce the volumes of water requested based
1206on the past pumpage from the Samsula wellfield and the Glencoe wellfield.
121814. The Glencoe wellfield has been in operation since early 1950. The
1230Samsula wellfield has been in operation since 1982.
123815. The Commission has never exceeded the currently permitted withdrawals
1248as measured by annual, daily, or peak basis.
1256III. WATER DEMAND
125916. Approximately 75% of the demand is related to residential consumption.
1270Approximately 10% of the demand is related to commercial and industrial
1281consumption. Approximately 7% of the demand is related to irrigation. Lastly,
1292approximately 8% of the demand is for miscellaneous consumption, including loss
1303that occurs in the treatment process itself.
131017. Gross water use in the area served by the Commission is about 138
1324gallons per person per day.
132918. The approximate 103 gallons per person per day (net) used by
1341residences is small as compared to other providers of potable water.
135219. The present population of the Commission's service area is
1362approximately 31,570 customers.
136620. The projected 1997 population of the Commission's service area is
137740,680.
137921. The Commission's population projections were obtained by methods
1388consistent with the District's Permit Manual.
1394VI. PERMIT CRITERIA
1397A. Water Conservation Plan
140122. The Commission has submitted a complete Water Conservation Plan. The
1412implementation of that plan is a condition of the permit.
142223. The Water Conservation Plan includes a customer audit program of the
1434system to determine how much water is pumped and where the water goes once it is
1450distributed.
145124. The customer audit program involves employees of the Commission
1461discussing the historical water usage with the customer, detection of leaks,
1472installation of water restrictors, and the prevention of freezing pipes in the
1484wintertime.
148525. The Commission encourages reduced consumption through the water meter
1495charges. Larger meters use more water than smaller meters. The monthly charge
1507for the larger meters is higher thereby encouraging the use of smaller meters.
152026. The Water Conservation Plan includes a pressure monitoring program to
1531detect leaks in the system. The program has been implemented.
154127. The system pressure monitoring plan measures the pressure in different
1552zones around the Commission's service area and, should a large main burst, an
1565alarm is triggered. Repair of that water main would occur immediately.
157628. The Water Conservation Plan includes an analysis of the economic,
1587environmental and technical feasibility of using reclaimed water in Commission's
1597Exhibit No. 14, Reuse of Reclaimed Wastewater Conceptual Planning Document.
160729. The Reuse of Reclaimed Wastewater Conceptual Planning Document
1616involves four major phases of construction starting in 1991 with completion in
16281995. The first phase is underway.
163430. As part of the reuse plan, the Commission is modifying the wastewater
1647treatment plant to accept reuse water. The construction is 99 percent complete.
1659A total cost for that is approximately 1.5 million.
166831. The Commission will be replacing some freshwater irrigation sources
1678with reclaimed water.
168132. The Commission has valid DER permits for this use of reclaimed water.
169433. As part of the reuse plan, the Commission has entered into
1706construction contracts to serve the municipal golf course, the landscape at city
1718hall and city parks with wastewater. The transmission and distribution lines
1729will be completed before October 1992. The cost is approximately $700,000.
174134. Other phases of the reuse plan include construction of the major
1753infrastructure inside and outside the city for reuse distribution. Total
1763investment is in excess of five million dollars. Major customers along the
1775route have been identified to increase the demand on the reuse system.
178735. The Water Conservation Plan includes an employee awareness program and
1798an educational program as well as a time frame to implement those programs.
181136. The Commission has a public relations program to inform the customers
1823about water conservation which includes newspaper publications concerning
1831reading water meters, xeriscaping, and methods to reduce water consumption and
1842the time/temperature machine which has prerecorded messages.
184937. The Commission has a program for educating the public and encouraging
1861xeriscaping or the use of drought resistant foliage. Xeriscaping is implemented
1872at the wastewater lift stations.
187738. The Commission has used direct mailing to provide water conservation
1888information to customers.
189139. The Commission has a program for inspecting and replacing defective
1902meters. If a meter malfunctions, the replacement reduces the system losses and
1914accurately records water usage.
191840. The Commission has a program to monitor unmetered uses, which includes
1930reporting from users such as the fire department of their unmetered use. On a
1944monthly basis, the fire department reports its water usage as calculated by its
1957operation schedule.
195941. The Commission is using the lowest acceptable quality water source,
1970including reclaimed water, for certain types of needs such as irrigation of golf
1983courses.
198442. The Water Conservation Plan addresses the use of treated effluent to
1996minimize withdrawals of groundwater.
2000B. Issues Related to Reasonable Assurance
2006(1) Hydrogeology
200843. The Floridan aquifer occurs at approximately 100 feet below the land
2020surface throughout Volusia County. It's overlain by approximately 100 foot of
2031sandy and clayey material collectively called the Clastic aquifer or the
2042surficial aquifer.
204444. The proposed SR 44 wellfield site is underlain by an approximate 900-
2057foot depth of freshwater of the Floridan aquifer.
206545. In the high recharge area of the Deland Ridge, water moves rapidly
2078into the surficial aquifer and recharges the Floridan aquifer.
208746. A regional groundwater gradient extends from the Deland Ridge towards
2098the east. There is a volume of water in the Floridan aquifer that is constantly
2113moving from the west to the east to replenish water that is being withdrawn.
212747. Based on the regional movement of the Floridan aquifer and the nature
2140of the Floridan aquifer, the water that is being replenished by the withdrawal
2153is mainly coming from the Floridan aquifer with some contribution from the
2165surficial.
216648. Another way to determine the source of the water is by geochemical
2179analysis.
218049. The source of the water for this use is characterized as freshwater
2193category number three meaning that it is Floridan aquifer water that is
2205replenishing the water that is being withdrawn and not surface water that is
2218going directly into the Floridan aquifer system.
2225(2) Aquifer Tests
222850. The aquifer performance test at the SR 44 wellfield shows that the
2241aquifer is able to produce the volumes of water requested.
225151. The depths of the proposed wells, and APT test well, at the SR 44
2266wellfield is 250 feet below land surface or 150 feet into the Floridan aquifer.
228052. The APT at the SR 44 wellfield site provided for the collection of
2294data to show what happens to the water levels while the aquifer is stressed.
230853. The second APT at the SR 44 wellfield site tested the Floridan aquifer
2322at a depth of 750 feet below land surface. The section of the Floridan aquifer
2337tested was 500 feet thick.
234254. The second APT and geophysical logs showed that there were not any
2355additional flow zones below the upper Floridan aquifer which would yield
2366additional water.
236855. Prior to the pump recovery test at the Samsula wellfield, the wells
2381were pumping at 2.59 million gallons per day for a couple of days prior to
2396shutting them off.
239956. For a period of five days, four wells in the vicinity of the Samsula
2414wellfield were monitored by the District for water level recovery.
242457. The actual observations and the predicted drawdowns in the model
2435correlated well.
243758. Drawdown does occur at homeowners' wells when the Commission's Samsula
2448wellfield is pumping, but it does not interfere with existing legal users based
2461on the District rules.
246559. The drawdown will not cause a ten percent reduction in the withdrawal
2478capability of the homeowner's well.
2483(3) Computer Modeling
248660. The PLASM model simulates the response of the surficial and Floridan
2498aquifers to pumping.
250161. The computer model oversimplifies the nature of the surficial aquifer
2512by characterizing the layer as a solid homogeneous type of a system, basically
2525being all sand. In reality, there are some shell and clay layers or hardpan.
253962. The transmissivity or the ability to transmit water through the
2550aquifer for surficial aquifer sand ranges between 1,000 up to about 12,000.
256463. The transmissivity in the model is 5,000 gallons per day per foot
2578(gpdpf) for Layer 1 which was reasonable.
258564. In Layer 2, the data from the APT produced a value of 50,000 gpdpf and
2602a leakance value, or value that would correspond to water that moves from the
2616surficial aquifer down to the Floridan aquifer, of 0.0012 gpdpf.
262665. This 50,000 and 0.0012 values are reasonable numbers for this area of
2640Volusia County.
264266. The PLASM model is an accepted model for simulating pumpage.
265367. In the PLASM model, the transmissivity was varied in two different
2665directions, but it averaged 50,000 gpdpf in the Floridan aquifer system.
267768. In the Floridan aquifer system, water is going to be moving based on
2691the transmissivity of the aquifer and a leakance value from the surficial
2703aquifer. The water primarily flows in a horizontal direction. There is a
2715component of vertical movement. The difference between the horizontal movement
2725and the vertical movement is an order of magnitude.
273469. There's an order of magnitude difference between the 50,000 gpdpf and
2747the 0.0012 gpdpf which shows that the majority of the water is coming from a
2762horizontal direction. There is some vertical movement. The vertical movement is
2773not only from above, but because of the Floridan aquifer there is also vertical
2787movement from below.
279070. When a well is pumping water, the water is being replenished mostly
2803from the horizontal direction and from the lower direction in the same aquifer
2816system, with some contribution downward based on the leakance value from above.
282871. This is demonstrated or shown by a small predicted drawdown in the
2841surficial aquifer and that predicted drawdown is basically two orders of
2852magnitude less than the drawdowns in the Floridan aquifer.
2861(4) Proposed Recommended Withdrawal Rates
286672. The proposed recommended withdrawal rate from the SR 44 wellfield is
28781.43 mgd for average daily flow.
288473. With the proposed recommended withdrawal of 1.43 mgd at the SR 44
2897wellfield, the maximum drawdown in the surficial aquifer is approximately 0.34
2908feet.
290974. With the proposed recommended withdrawal of 1.43 mgd at the SR 44
2922wellfield, the maximum drawdown in the Floridan aquifer is approximately ten
2933(10) feet.
293575. A withdrawal of 1.93 mgd at the SR 44 wellfield site would result in a
2951maximum drawdown in the surficial aquifer of 0.7 feet and in the Floridan
2964aquifer of thirteen (13) feet.
296976. The proposed recommended withdrawal rate from the Samsula wellfield is
29801.93 mgd for average daily flow.
298677. With the proposed recommended withdrawal of 1.93 mgd at the Samsula
2998wellfield, the maximum drawdown in the surficial aquifer is approximately seven
3009tenths (0.70) of a foot.
301478. With the proposed recommended withdrawal of 1.93 mgd at the Samsula
3026wellfield, the maximum drawdown in the Floridan aquifer is approximately
3036seventeen (17) feet.
303979. The proposed recommended withdrawal rate from the Glencoe wellfield is
30501.93 mgd for average daily flow.
305680. Under the existing permit, the Samsula wellfield is withdrawing at the
3068higher rate of approximately 2.59 million gallons per day.
307781. The volumes of water requested from both the Samsula wellfield and the
3090SR 44 wellfield have been reduced from what was originally proposed by the
3103Commission.
310482. The reduced allocation for the Samsula wellfield will improve
3114groundwater elevations and thereby reduce groundwater impacts.
3121(5) Water Quality
312483. The state water quality standard for public drinking water is 250
3136milligrams per liter (mg/l) chlorides.
314184. For water supply systems where the chloride level is below 250 mg/l,
3154the District uses that level to determine whether or not the pumping is going to
3169cause significant saline water intrusion. The proposed use cannot cause the
3180water quality to exceed 250 mg/l in chlorides.
318885. The water quality data from the existing Samsula and Glencoe
3199wellfields shows that none of the wells or trends from the indicate that they
3213are either above 250 mg/l or trending in a degradation mode toward 250 mg/l.
322786. The water quality in the wells is stable without degradation of the
3240water quality in either of the Glencoe wellfield or the Samsula wellfield.
325287. The water quality data collected during the APT at the SR 44 wellfield
3266showed that the chlorides were below 250 mg/l and that during the test, there
3280was no change or a trend of becoming salty.
328988. An independent study used geophysical methods to determine the depths
3300below land surface where high concentrations of saline water exist. That depth
3312was at approximately 1200 feet below land surface.
3320(6) Proposed Permit Conditions
332489. The Commission accepts the conditions of the permit as proposed in the
3337Commission Ex. 10-B.
334090. The proposed conditions require the Commission to limit the
3350withdrawals per wellfield as specified and to monitor each production well with
3362a flow meter, monitor the groundwater levels, monitor the surface water
3373conditions, monitor rainfall, and monitor the wetlands.
338091. The proposed permit conditions and the County's ombudsman program
3390adequately address the possible impacts of the proposed wellfield on existing
3401users. The monitoring will be able determine the impact of the wellfield on
3414those users.
341692. The Commission accepts the condition to mitigate for interference with
3427existing legal users in compliance with the proposed permit conditions.
343793. The Volusia County ombudsman program provides the method of
3447investigating and resolving issues related to interference of the proposed
3457wellfield operation with existing legal users. The Commission will participate
3467in this program.
347094. The Commission's purchase of the property is contingent upon obtaining
3481the consumptive use permit. The Commission will own the site as shown on
3494various exhibits.
349695. The drainage pattern of Tiger Bay is northerly for most of the basin.
3510A canal located north of the area provides the primary drainage for Tiger Bay.
352496. A small drainage area within Tiger Bay of approximately 90 acres
3536drains south into the SR 44 wellfield site. Some of the drainage does come
3550through the two 30-inch culverts under SR 44, and both commingle with the
3563wetlands that are on the site as well as drain into a ditch located along the
3579Ranchette Road.
358197. The maximum capacity at ideal conditions for those two culverts would
3593be approximately 300 CFS, cubic feet per second.
360198. The entire Tiger Bay drainage basin is approximately 13,000 acres.
3613The volume of surface water which can flow from Tiger Bay is 13,000 cfs. That
3629volume could not flow through the culverts at SR 44 without overtopping the
3642road.
3643C. Ecology
364599. The upland communities surrounding the Samsula wellfield are primarily
3655pine flatwoods and mixed pine forested areas.
3662100. The proposed 1.93 mgd average day withdrawal quantity being
3672recommended by the District for the Samsula wellfield will not adversely affect
3684these upland communities because: (a) the upland communities do not rely on
3696inundated or saturated conditions so the proposed consumptive use will not
3707adversely affect the hydrology these upland communities rely on; and (b) the
3719magnitude of the predicted drawdown will not cause a shift in vegetation meaning
3732a change in the types of plants that already exist there.
3743101. The wetland communities surrounding the Samsula wellfield site
3752consist of cypress dome and bay swamp communities.
3760102. With the projected drawdowns information for the Samsula wellfield,
3770there will not be significant adverse impacts to uplands or wetlands that would
3783be identifiable based upon the projected wellfield withdrawal rates as
3793recommended by the District.
3797103. Any potential for impacts has been reduced in that the current
3809pumpage rates are projected to decrease.
3815104. The proposed 1.93 mgd average day withdrawal quantity being
3825recommended by the District for the Samsula wellfield will not cause the water
3838table to be lowered such that these wetland communities will be significantly
3850and adversely affected for the following reasons:
3857a) The wetlands in the area of the Samsula wellfield lie in a sloped
3871terrain.
3872b) Underlying the site is a soil area known as a spodic horizon or a
3887hardpan layer.
3889c) The spodic horizon is an area where there is a deposition of organics
3903and it has a different chemistry than the surrounding soils.
3913d) The spodic horizon, when saturated, acts as a semi-impervious or
3924impermeable layer which causes impedance of water as it goes through.
3935e) This spodic horizon in the area of the Samsula wellfield is typically
3948two feet below the soil surface.
3954f) The predicted drawdown will not cause water levels to be dropped such
3967that in normal wet season conditions, which is the time when hydrology to a
3981wetland is most important, the spodic horizon will still be saturated so that
3994water is coming into the wetlands through rainfall directly, as well as rainfall
4007that falls on the adjacent uplands and moves laterally through the soils to the
4021wetland above the spodic horizon.
4026g) Thus, the spodic horizon will prevent a shift in the "water budget" of
4040these wetlands such that the wetlands will not be harmed by the proposed use.
4054h) The wetlands systems surrounding the Samsula wellfield are primarily
4064densely forested systems with a fairly substantial accumulation of organic or
4075muck type soils in the surface. The soils assist these wetlands in retaining
4088moisture which provides a "built-in system" for the wetlands to withstand
4099fluctuations in hydroperiods.
4102i) The wetland systems surrounding the Samsula wellfield appear to have an
4114altered hydrology. The identifiable impacts are ditches or shallow swales along
4125State Road 44. The wetlands south of 44 in the vicinity of wells one, two and
4141three have been bisected by roads and there are swales cut adjacent to those
4155roads. The power line that runs north-south has cut off and eliminated half of
4169a cypress wetland south of 44 and about half of a cypress wetland north of 44.
4185It is possible that these ditches and roads may have caused the altered
4198hydrology in these wetlands.
4202j) It cannot be concluded that the current Samsula wellfield operation has
4214caused this altered hydroperiod.
4218k) However, the drawdown that is predicted to occur at the Samsula
4230wellfield under the proposed 1.93 mgd average day withdrawal being recommended
4241by the District is much less than the drawdown that is occurring from the
4255current pumpage at this wellfield. The projected drawdowns from the proposed
4266three wellfield configurations indicate less potential for impacts than the
4276current two wellfields as far as Samsula is concerned.
4285l) Thus, even if the wetlands surrounding the Samsula wellfield have been
4297affected in any way by the current pumpage rate, the reduced drawdown rates that
4311will result from the 1.93 mgd average day proposed pumpage rate will greatly
4324improve this condition.
4327105. Other than slight alteration along the edge of SR 44, the wetlands in
4341the vicinity of Samsula wells five and six have not been significantly altered.
4354No changes in vegetation and no apparent changes in hydrology occur in those
4367areas. The cypress wetland north of SR 44 has a drainage ditch emerging to the
4382east. Another wetland immediately north of SR 44, north of well four, is
4395adjacent to the road and the roadside swale or ditch in that vicinity.
4408106. The species of wildlife identified are ones that are adapted to
4420altered conditions. Abundant wildlife is generally found living in association
4430with improved pastures and close proximity to man.
4438107. Most of the wetlands in the area of the Samsula wellfield, north and
4452south of SR 44, are in improved pasture or where roads and power lines have been
4468cut. There was evidence of impacts to the wetlands and some drainage. The edge
4482of the cypress dome north of SR 44 has blackberries and other weedy type species
4497along the margins of it.
4502108. The wetland immediately southeast of well one at the Samsula
4513wellfield was a healthy bay dominated area with ferns underneath.
4523109. The lichen line on the trunk of the tree and the mosses indicate that
4538the water has been up to or near the historical high within the past season or
4554two. Otherwise, the lichens would grow at the base of the tree.
4566110. At the Samsula wellfield site, there are no wetlands within the inner
4579drawdown contour of 0.7. There are some wetlands between the 0.7 and the 0.5
4593contours.
4594111. The upland communities in the vicinity of the proposed SR 44
4606wellfield are primarily pine flatwoods and improved pasture.
4614112. In the pine flatwoods areas, the soils indicate that the water table
4627extends from a height of 0.5 feet below land surface and down to a hardpan
4642layer.
4643113. The water table in the pine flatwoods fluctuates between the hardpan
4655and 0.5 feet below land surface.
4661114. The proposed 1.43 mgd average daily withdrawal which is being
4672recommended by the District for the proposed SR 44 wellfield will not
4684significantly and adversely affect these upland communities because these upland
4694communities are not reliant on inundated or saturated conditions, and the
4705proposed consumptive use will not cause a shift in hydrology such that the
4718vegetation found in these communities will no longer be there.
4728115. The wetland communities in the vicinity of the proposed SR 44
4740wellfield consist of cypress sloughs and cypress domes which also have
4751herbaceous areas with them. The cypress dominated wetlands are on the
4762northeastern portion of the site and the northwestern portion of the site
4774extending down through the central and southeastern part of the site. Cypress
4786dominated wetlands occur on the southwestern border with one in the east-central
4798portion of the site. Between the cypress dominated wetlands and pine flatwoods
4810are grass prairies.
4813116. The Commission determined the hydroperiod of the wetlands using
4823vegetative physical evidence or biological indicators, such as lichen lines and
4834mosses, and soil physical evidence from soil probes, which are indicators of
4846long-term and sometimes short-term changes.
4851117. The wetland on the east-central portion of the proposed SR 44
4863wellfield site inundates to approximately six and one half inches. In the dry
4876season, the soils dry out to 0.15 feet below land surface.
4887118. In the wet prairie or wet grassy area, the water table seasonally
4900fluctuates between the hardpan layer of 2.2 feet bls and a tenth or two-tenths
4914of an inch above the surface as based on adventitious roots growing from a St.
4929Johns wort plant species.
4933119. The water table fluctuations explain the seasonal high and the
4944seasonal low water elevations.
4948120. The factors which most influence the wetlands and their hydrology are
4960subsurface flow during the wet season, the runoff and direct rainfall.
4971121. The proposed 1.43 mgd average daily withdrawal for the proposed SR 44
4984wellfield will not significantly and adversely affect these wetland communities
4994because these wetlands are also underlain by a spodic horizon which, as in the
5008case of the Samsula wellfield wetlands, functions to provide lateral movement of
5020water into the wetlands.
5024122. The predicted drawdowns for the proposed SR 44 wellfield will not
5036lower the water levels in these wetlands so as to prevent the spodic horizon
5050from performing this function.
5054123. The recommended withdrawal rate of 1.43 mgd for the proposed SR 44
5067wellfield reduces the opportunity for impacts.
5073124. The part of the wellfield site where the greatest drawdown of 0.34
5086feet occurs is the furthest away from the majority of the wetlands on the site.
5101125. However, the wetland and soil types on the surface layer are
5113different than the wetland and soil types found at the Samsula wellfield site.
5126126. The District is recommending a pumpage rate for the proposed SR 44
5139wellfield that would result in a maximum .34 feet of drawdown in the surficial
5153aquifer while recommending a pumpage rate that would result in a maximum .7 foot
5167drawdown in the surficial aquifer for the Samsula wellfield.
5176127. The wetlands at the proposed SR 44 wellfield site do not have the
5190dense canopy as well as the accumulation of muck soils in the surface that the
5205wetlands at the Samsula site have.
5211128. Additionally, the wetlands in the vicinity of the proposed SR 44
5223wellfield site include herbaceous systems which tend to be shallower systems,
5234not as deeply set as the forested cypress systems are, and therefore tend to be
5249more sensitive to changes that occur in the top couple of inches of soil which
5264is above the spodic horizon.
5269129. Thus, the wetlands in the vicinity of the proposed SR 44 wellfield
5282would be significantly and adversely affected if the Commission were permitted
5293to withdraw water at a pumpage rate that would result in a drawdown of greater
5308that .34 feet.
5311130. The drawdowns upon which the evaluation of potential wetland impacts
5322are based are predicted drawdowns.
5327D. Monitoring and Proposed Conditions
5332131. To provide additional assurance, the District has recommended a
5342series of permit conditions, numbered 31 through 45 on the Commission Ex. 10-B,
5355that will require the permittee to conduct extensive groundwater and surface
5366water monitoring, as well as vegetative monitoring in the vicinity of the
5378proposed SR 44 wellfield and the Samsula wellfield site. Condition number 31
5390identifies the overall program of wetland and ground and surface water
5401monitoring.
5402132. Condition number 32 requires the permittee to install surficial
5412aquifer monitoring wells in the vicinity of the wellfield sites. These
5423monitoring wells will be constructed below the spodic horizon and inside and
5435outside the "area of concern" which is the area within the tenth of a foot
5450drawdown contour at the wellfield sites. This condition will enable the
5461District to analyze how the proposed use is affecting the overall groundwater
5473levels unaffected by the spodic horizon.
5479133. Placing these wells both inside and outside the area of concern will
5492allow the District to determine if any change in groundwater levels is due to
5506the wellfields or normal climatic patterns.
5512134. Condition number 33 will allow the District to obtain a constant
5524record of information to analyze what trends are occurring in the wetlands in
5537the wellfields and to have sufficient data during normal climatic variations of
5549the wet and the dry seasons to determine the presence of a trend.
5562135. The required period of record collection, defined in this condition
5573as the shorter of one calendar year or one consecutive wet to dry season, is a
5589sufficient period of record collection because the purpose of this condition is
5601to obtain a picture in time of the existing conditions in the wetlands
5614surrounding the wellfields during the dry season and the wet season.
5625136. Condition 33 requires the permittee to submit an annual hydrologic
5636report to the District. This is a sufficient time period of reporting because
5649the purpose of the report is to allow the District to accumulate and assess an
5664entire year's of data or the entire dry to wet season variation. With the
5678annual report, any adverse wetland vegetation changes can be detected prior to
5690any permanent harm to the wetlands.
5696137. Condition number 34 requires the permittee to install shallow
5706piezometers and staff gauges in the monitored and referenced wetland areas. The
5718monitored wetlands are the wetlands inside the "area of concern." The
5729referenced wetlands are outside the "area of concern."
5737138. Condition number 34 will allow the District to analyze the hydrology
5749above the spodic horizon. This in turn will allow the District to evaluate the
5763hydrology of the monitored wetlands against the hydrology of the referenced
5774wetlands to determine if any adverse impacts are occurring in the wetlands due
5787to the wellfields' operation.
5791139. Condition Number 35 requires the permittee to submit surveyed cross-
5802sections of each of the monitored wetlands and the referenced wetlands. This
5814condition will allow the District to receive a linear view of both the monitored
5828and referenced wetlands so that when the District receives the groundwater and
5840surface water information required by condition number 34, it can assign that
5852information to a picture, and know what the wetlands look like under varying
5865water conditions.
5867140. Condition number 36 requires the permittee to select referenced
5877wetlands similar to the wetlands that are going to be monitored in the area of
5892concern. This will ensure that the reference wetlands match vegetatively and
5903hydrologically with the wetlands that are being monitored within the area of
5915concern.
5916141. Condition number 37 requires the permittee to install rain gauges at
5928both wellfield sites. This will allow the District to compare rainfall to
5940groundwater information and determine what the relationship is between water
5950levels in the surficial aquifer and the amount of rainfall that has occurred.
5963142. Condition number 38 requires the permittee to monitor, on a weekly
5975interval, the water levels in each of the monitored wetlands and in the
5988referenced wetlands and submit annual reports of this data.
5997143. Condition number 39 requires the permittee to install continuous
6007recorders on the staff gauges and piezometers in the reference and monitored
6019wetlands. The information gathered will provide the District with detailed
6029records of the water fluctuations in these wetlands systems relative to rainfall
6041input.
6042144. Condition number 39 requires the permittee to submit annual reports
6053of the information gathered to the District. The annual report will allow the
6066District to determine if any adverse trends are occurring in the wetlands. No
6079permanent adverse change could occur to the wetlands communities surrounding
6089either wellfield before the District receives this annual report.
6098145. Condition number 40 requires the permittee to conduct baseline water
6109quality monitoring at each of the monitored wetlands. If any adverse change
6121does occur to the wetlands surrounding either wellfield, and if the permittee
6133chooses to mitigate for this adverse change by augmenting the wetland systems,
6145then this permit condition will allow the District to ensure that the water used
6159to augment those wetlands is of the same quality as the water currently found in
6174those wetlands.
6176146. Condition number 41 requires the permittee to initiate a baseline
6187vegetative monitoring program of the monitored and reference wetlands at both
6198wellfields. r i c t t o h a v e a v t e e t a t i v e p i c t u g r s D T h i s c o n d i t i i o w i l l a l l o w t h e n e
6257of the wetlands prior to any pumpage.
6264147. Condition number 42 requires the permittee to conduct a vegetative
6275monitoring program of the monitored and reference wetlands at both wellfields
6286with the initiation of withdrawals.
6291148. Condition number 43 requires the permittee to provide a wetland
6302similarity assessment for both wellfields. The permittee must compare the
6312results of the wetland vegetative monitoring program each year against the
6323baseline vegetative monitoring of the same wetland and against the vegetative
6334monitoring of the referenced wetlands. This condition will assist the District
6345in determining if any adverse trends are occurring in the wetlands surrounding
6357either wellfield.
6359149. Condition number 44 requires the permittee to create two duplicate
6370reference herbarium collections of the flora present in the monitored and
6381referenced wetlands and the adjacent upland areas. This condition will ensure
6392that there is consistency in the vegetative identification throughout the
6402monitoring program.
6404150. Condition number 45 requires the permittee to mitigate any harm to
6416the wetlands that is detected from the monitoring required by other permit
6428conditions. This condition does not require any particular form of mitigation.
6439151. The wellfield withdrawals at the projected rates and the suggested
6450permit rates should not have an impact on threatened or endangered plant or
6463animal species in the Samsula wellfield area or the proposed SR 44 wellfield
6476area.
6477152. The monitoring program will provide the data to determine on a short-
6490term or long-term basis whether the pumpage rates are causing impacts.
6501153. Potential harm can be mitigated by adjusting the quantities and
6512locations of withdrawal.
6515V. ATTORNEY'S FEES AND COSTS
6520154. The Commission seeks fees and costs from Petitioner pursuant to
6531Section 120.59(6), Florida Statutes (1991). Such entitlement requires a showing
6541that the Petitioner brought this case or filed a pleading for an improper
6554purpose.
6555155. While the evidence does show that certain pleadings filed by
6566Petitioner (or his attorney who withdrew 24 hours prior to the beginning of the
6580hearing) may have had as one purpose the delay of the hearing scheduled for
6594March 24, 1992, the totality of the evidence establishes that Petitioner's
6605purposes were not improper.
6609156. Section 403.412(5), Florida Statutes (1991), establishes the right of
6619any citizen of the state to intervene into "proceedings for the protection of
6632air, water, or other natural resources of the state from pollution, impairment,
6644or destruction . . . ."
6650157. The actions of Petitioner in this proceeding were not clearly shown
6662to be for delay, harassment or other improper purpose. In fact, Petitioner
6674handled himself well as a pro se litigant after his attorney's untimely
6686withdrawal.
6687158. If anyone acted with an improper purpose in this proceeding, it was
6700Peter Belmont, Nassau's attorney until he withdrew less than 24 hours prior to
6713the hearing. The record shows that Belmont entered into the representation of
6725Nassau with full knowledge that he would seek all possible delays in the
6738proceedings. He engaged in no preparation for the hearing and he left Nassau
6751unprepared also. Belmont's bad faith actions in this case however can only be
6764determined and remediated by the Florida Bar, not by the undersigned through an
6777award of fees and costs.
6782159. Finally, there has been no delay in these proceedings. The petition
6794was filed with DOAH on January 16, 1992. The District moved to consolidate it
6808with two other pending case set for January 20, 1992. Those cases were
6821voluntarily dismissed. An Initial Order was sent to the parties on January 21,
68341992, seeking suggested dates for the hearing. The hearing was set to begin
6847March 16, 1992, less than 60 days from the filing of the case. A one week
6863continuance was granted and the case was heard beginning on March 24, 1992. If
6877anything, this case has proceeded expeditiously.
6883CONCLUSIONS OF LAW
6886160. The Division of Administrative Hearings has jurisdiction of the
6896parties to and subject matter of these proceedings. Section 120.57(1), Florida
6907Statutes.
6908161. The District's regulatory authority over the Commission's application
6917for a CUP is governed by and subject to the provisions of Chapter 373, Florida
6932Statutes (1991), and Florida Administrative Code Chapter 40C-2, Florida
6941Administrative Code.
6943162. The Commission has the burden of proof to establish its entitlement
6955to the requested permit. Rule 40C-2.301(7). Capeletti Brothers v. Department
6965of General Services, 432 So.2d 1359 (Fla. 1st DCA 1983).
6975163. Section 373.223(1), Florida Statutes, provides:
6981373.223 Conditions for a permit. --
6987(1) To obtain a permit pursuant to the
6995provisions of this chapter, the applicant
7001must establish that the proposed use of
7008water:
7009(a) Is a reasonable-beneficial use as
7015defined in s. 373.019(4);
7019(b) Will not interfere with any presently
7026existing legal use of water; and
7032(c) Is consistent with the public interest.
7039164. "Reasonable-beneficial use" is defined in Section 373.019(4), Florida
7048Statutes, as
7050. . .the use of water in such quantity as is
7061necessary for economic and efficient
7066utilization for a purpose and in a manner
7074which is both reasonable and consistent with
7081the public interest.
7084165. Rule 40C-2.301, F.A.C., provides in pertinent part:
7092(2) To obtain a consumptive use permit for
7100a use which will commence after the effective
7108date of implementation, the applicant must
7114establish that the proposed use of water:
7121(a) is a reasonable beneficial use; and
7128(b) will not interfere with any presently
7135existing legal use of water; and
7141(c) is consistent with the public interest.
7148(3) For purposes of subsection (2)(b) above,
"7155presently existing legal use of water" shall
7162mean those legal uses which exist at the time
7171of receipt of the application for the
7178consumptive use permit.
7181(4) The following criteria must be met in
7189order for a use to be considered reasonable
7197beneficial:
7198(a) The use must be in such quantity as is
7208necessary for economic and efficient
7213utilization.
7214(b) The use must be for a purpose that is
7224both reasonable and consistent with th
7230public interest.
7232(c) The source of the water must be capable
7241of producing the requested amounts of water.
7248(d) The environmental or economic harm caused
7255by the consumptive use must be reduced to an
7264acceptable amount.
7266(e) All available water conservation measures
7272must be implemented unless the applicant
7278demonstrates that implementation is not
7283economically, environmentally or
7286technologically feasible. Satisfaction of
7290this criterion may be demonstrated by
7296implementation of an approved water
7301conservation plan as required in Section
730712.0., Applicant's Handbook: Consumptive Uses
7312of Water.
7314(f) When reclaimed water is readily available
7321it must be used in place of higher quality
7330water sources unless the applicant demonstrates
7336that its use is either not economically,
7343environmentally or technologically feasible.
7347(g) The lowest acceptable quality water
7353source including reclaimed water which is
7359addressed in paragraph 40C-2.301(4)(f) above,
7364must be utilized for each consumptive use.
7371To use a higher quality water source an
7379applicant must demonstrate that the use of
7386all lower quality water sources will not be
7394economically, environmentally, or
7397technologically feasible. If the applicant
7402demonstrates that use of a lower quality
7409water source would result in adverse
7415environmental impacts that outweigh water
7420savings, a higher quality source may be
7427utilized.
7428(h) The consumptive use should not cause
7435significant saline water intrusion or further
7441aggravate currently existing saline water
7446intrusion problems.
7448(i) The consumptive use should not cause or
7456contribute to flood damage.
7460(j) The water quality of the source of the
7469water should not be seriously harmed by the
7477consumptive use.
7479(k) The water quality of the receiving body
7487of water should not be seriously harmed by the
7496consumptive use. A valid permit issued
7502pursuant to Rule 17-4.240 or Rule 17-4.260,
7509Florida Administrative Code, shall establish
7514a presumption that this criterion has been met.
7522(l) All individual consumptive use permit
7528applicants must comply with the monitoring
7534requirements in section 6.7.1, of the
7540Applicant's Handbook, Consumptive Uses of
7545Water, on or before January 1, 1994, unless
7553waived by the Governing Board due to extreme
7561hardship.
7562(5)(a)A proposed consumptive use does not meet
7569the criteria for the issuance of a permit set
7578forth in Rule 40C-2.301(2) if such proposed
7585water use will:
75881. significantly induce saline water
7593encroachment; or
75952. cause the water table or surface water
7603level to be lowered so that stages or
7611vegetation will be adversely and significantly
7617affected on lands other than those owned,
7624leased or otherwise controlled by the
7630applicant; or
76323. cause the water table level or aquifer
7640potentiometric surface level to be lowered so
7647that significant and adverse impacts will
7653affect existing legal users; or
7658* * *
76615. cause the rate of flow of a surface water
7671course to be lowered below a minimum flow
7679which has been established pursuant to Section
7686373.042(1), F.S.; or
76896. cause the level of a water table aquifer,
7698the potentiometric surface level of an aquifer
7705source, or the water level of a surface water
7714source to be lowered below a minimum level
7722which has been established pursuant to Section
7729373.042(2), F.S.
7731166. The District has by rule adopted a presumption in Section 9.4.4 of
7744the Applicant's Handbook that an interference with an existing legal use occurs
7756when:
7757. . . the withdrawal capability of any
7765individual withdrawal facility of a presently
7771existing legal user experiences a 10% or
7778greater reduction in withdrawal capability or
7784when the existing user experiences economic,
7790health or other type of hardship as a result
7799of the new use.
7803167. The second pump test conducted by the District established that the
7815drawdowns observed in homeowners' wells were not interfered with to the extent
7827that a 10% reduction in withdrawal capacity was observed. With the proposed,
7839reduced allocation for the Samsula wellfield, from 2.59 mgd to 1.93 mgd, there
7852will not be interference with existing legal users.
7860168. The District defines the public interest at Section 9.4.4 of the
7872Applicant's Handbook as:
7875. . . . those rights and claims on behalf of
7886people in general. In determining the public
7893interest in consumptive use permitting
7898decisions, the Board will consider whether an
7905existing or proposed use is beneficial or
7912detrimental to the overall collective well
7918being of the people or to the water resource
7927in the area, the District and the State.
7935This definition has two components which requires a determination as to whether
7947the use is "detrimental" or "beneficial": 1) The overall collective well being
7960of the people; and 2) the water resource in the area, the District and the
7975State. As the findings of facts herein indicate, the proposed water use, as
7988conditioned, will not be harmful to the water resources of the area, the
8001District or the State.
8005169. In the application of its permitting criteria, the District considers
8016the use of water for public supply purposes to be in the public interest. This
8031use proposed in the application is in the public interest.
8041Rule 40C-2.301(2)(a), F.A.C.
8044170. The amount of water requested here is reasonable for the purposes
8056intended. The population figures are accurate. The per capita usage figures
8067for this service area, 103 gpcpd, are reasonable and within the range
8079contemplated by the District.
8083Rule 40C-2.301(4)(b), F.A.C.
8086171. The consumptive use is for a purpose which is both reasonable and
8099consistent with the public interest because: (1) use of water for public supply
8112purposes is in the public interest; (2) the water will used by the residents in
8127the Commission's service area for a variety of purposes, all of which are
8140accepted classes of use; and (3) the use is needed to provide additional sources
8154of potable water to the citizens of the Commission service area. Therefore, the
8167criteria of Rule 40C-2.301(4)(b) have been met.
8174Rule 40C-2.301(4)(c), F.A.C.
8177172. The APT, pump tests and historical records establish that the
8188Floridan aquifer is capable of producing the requested amounts of water.
8199Therefore, the criteria of Rule 40C-2.301(4)(c) have been met.
8208Rule 40C-2.301(4)(d), F.A.C.
8211173. The proposed consumptive use will not cause economic harm, and the
8223consumptive use as proposed and conditioned will prevent any environmental harm.
8234In addition, the environmental harm has been reduced to an acceptable amount.
8246The existing allocation of Samsula wellfield has been reduced from 2.59 mgd to
82591.93 mgd. This reduces the impacts on the surficial aquifer and wetlands. The
8272allocation for the proposed SR 44 wellfield has been reduced from 1.93 mgd as
8286requested to 1.43 mgd as proposed. Any environmental harm which may result from
8299the withdrawal quantities being recommended by the District has been reduced to
8311an acceptable amount because in the event the drawdowns in the surficial aquifer
8324are greater than the drawdowns being predicted by the District, the District is
8337recommending a detailed wetland monitoring program which will detect any adverse
8348change occurring in the wetlands surrounding either wellfield. The District
8358will require the Commission to mitigate for any adverse changes that do occur.
8371No harm will come to the environment or to adjacent property owners as a result
8386of the Commission's withdrawals as proposed by the District.
8395Rule 40C-2.301(4)(e), F.A.C.
8398174. The Commission's Water Conservation Plan insures that water is used
8409efficiently through xeriscape, system pressure monitoring, meter rating and
8418public education programs. Available water conservation and reuse measures
8427which are financially, environmentally and socially practicable have been and
8437are being utilized. Condition No. 22 of the Commission Ex. 10-B requires the
8450Commission to implement the Water Conservation Plan, dated December 9, 1991.
8461Therefore, the criteria of 40C-2.301(4)(e), F.A.C., have been met.
8470Rules 40C-2.301(4)(f) and (g), F.A.C.
8475175. The Commission has demonstrated that it is using water lower in
8487quality than potable water. The Commission, through the reuse of reclaimed
8498water, will distribute reuse water to the municipal golf course, city hall and
8511city parks for irrigation. Lower quality of water will be used in place of
8525potable water. Therefore, the criteria of 40C-2.301(4)(f) and (g), F.A.C., have
8536been met.
8538Rule 40C-2.301(4)(h), F.A.C.
8541176. The Commission has met this criteria based on the results of APT
8554tests at the proposed SR 44 wellfield and existing water quality data from the
8568Samsula and Glencoe wellfields. There will be no detrimental impacts to
8579existing legal users or to the public interest during the term of the permit
8593resulting from any increase in chloride concentrations. The District's
8602recommended condition no. 25 requires the construction of monitoring wells to
8613monitor chlorides and other water quality parameters. The proposed permit
8623condition no. 5 can prohibit withdrawals which would cause the water from a well
8637that causes changes in water quality. Therefore, the criteria of 40C-
86482.301(4)(h), F.A.C., has been met.
8653Rule 40C-2.301(4)(i), F.A.C.
8656177. The consumptive use is a withdrawal of groundwater for distribution
8667as a public water supply. Therefore, the use will not cause flood damage and
8681the criteria in Rule 40C-2.301(4)(i) is met.
8688Rule 40C-2.301(4)(j), F.A.C.
8691178. The water quality of the source of the water will not be harmed. The
8706Glencoe and Samsula wellfields have operated for forty (40) and ten (10) years,
8719respectively. By limiting the withdrawal rates, the water quality at each
8730wellfield has remained stable with no trend of degradation toward 250 mg/l of
8743chlorides. Condition nos. 23, 25, 26, 27, 28 require the installation of
8755monitoring wells, collection of water quality samples, metering and submission
8765of reports. Deterioration, if any, in water quality will be detected so as to
8779prevent adverse water quality impacts. No adverse water quality impact will be
8791caused by the proposed use; therefore, the criteria in Rule 40C-2.301(4)(j) are
8803met.
8804Rule 40C-2.301(4)(k), F.A.C.
8807179. The receiving body of water for this use is the discharge point from
8821the wastewater treatment plant. The Commission has a valid permit pursuant to
8833Section 17-4.240, F.A.C., which satisfies the criteria of Rule 40C-2.301(4)(k).
8843Rule 40C-2.301(4)(l), F.A.C.
8846180. Pursuant to condition nos. 27, 28, 29, and 30 on the permit, the
8860Commission must monitor the withdrawal quantity by submitting actual pumpage
8870reports, as well as install, calibrate and use flow meters. Therefore the
8882criteria of 40C-2.301(4)(l), have been met.
8888Rule 40C-2.301(5)(a), F.A.C.
8891181. As a compliment to the three standards set forth in Rule 40C-
89042.301(2), the Governing Board has determined that failing to meet six certain
8916criteria, due to their very nature, will cause a use to fail the three
8930referenced standards. These six criteria are set forth in Rule 40C-
89412.301(5)(a)1-6. See also 109.4.1, A.H. The Commission has demonstrated that
8951its proposed consumptive use has met these criteria for the following reasons:
8963182. The Commission has met the requirement of Rule 40C-2.301(5)(a)1 that
8974the proposed use not significantly induce saline water encroachment for the same
8986reasons as set forth in the discussion of Rule 40C-2.301(4)(h) above.
8997183. The permit application will be denied if it would allow withdrawals
9009that would cause the water table or surface water level to be lowered so that
9024stages or vegetation will be adversely affected on lands other than those owned,
9037leased or otherwise controlled by the applicant. Based upon the field
9048investigations, groundwater modeling, and other analyses performed by the
9057applicant and District, it is clear that there will be no significant reduction
9070in the water table or in any surface water body and that there will be no damage
9087to crops, wetlands, or other types of vegetation caused by the proposed use
9100whatsoever. The forested nature and heavy organic soil content of the wetlands
9112surrounding the Samsula wellfield and the continuing presence of the spodic
9123horizon in the wetlands surrounding both wellfields will prevent these wetlands
9134from being harmed from the surficial aquifer drawdowns being predicted by the
9146District. Therefore, impacts on-site and off-site have merged since there will
9157be no impacts in the immediate vicinity of the wellfield.
9167184. The District's recommended wetland conditions will ensure that
9176wetlands in and adjacent to the wellfield will be appropriately monitored, and
9188if any problems arise, the necessary steps will be taken to maintain the health
9202of these wetlands. Therefore, the Commission has established that the
9212requirements of 40C-2.301(5)(a)2 are met.
9217185. The requirements of Rule 40C-2.301(5)(a)3-6 are either met or are not
9229at issue in this proceeding.
9234RECOMMENDATION
9235Based upon the foregoing Findings of Fact and Conclusions of Law, it is
9248recommended that the St. Johns River Water Management District enter a Final
9260Order GRANTING the Utilities Commission of New Smyrna Beach's Consumptive Use
9271Permit, subject to the March 9, 1992 permit conditions proposed by the District
9284(Commission's Exhibit 10-B).
9287RECOMMENDED this 13th day of May, 1992, in Tallahassee, Florida.
9297___________________________________
9298DIANE K. KIESLING
9301Hearing Officer
9303Division of Administrative Hearings
9307The DeSoto Building
93101230 Apalachee Parkway
9313Tallahassee, Florida 32399-1550
9316(904) 488-9675
9318Filed with the Clerk of the
9324Division of Administrative Hearings
9328this 13th day of May, 1992.
9334APPENDIX TO RECOMMENDED ORDER, CASE NO. 92-0246
9341The following constitutes my specific rulings pursuant to Section
9350120.59(2), Florida Statutes, on the proposed findings of fact submitted by the
9362parties in this case.
9366Specific Rulings on Proposed Findings of Fact
9373Submitted by Petitioner, William Nassau
93781. Each of the following proposed findings of fact is adopted in substance as
9392modified in the Recommended Order. The number in parentheses is the Finding of
9405Fact which so adopts the proposed finding of fact: 4(3) and 5(10).
94172. Proposed findings of fact 1-3, 6-9, 11, 12, 14, 19, and 22 are subordinate
9432to the facts actually found in this Recommended Order.
94413. Proposed findings of fact 13, 15-18, 20, and 21 are unsupported by the
9455credible, competent and substantial evidence.
94604. Proposed finding of fact 10 is irrelevant.
9468Specific Rulings on Proposed Findings of Fact
9475Submitted by Respondent, Utilities Commission of
9481New Smyrna Beach
94841. Each of the following proposed findings of fact is adopted in substance as
9498modified in the Recommended Order. The number in parentheses is the Finding of
9511Fact which so adopts the proposed finding of fact: 1-11(1-11); 13-19(15-21);
9522and 35(12).
95242. Proposed findings of fact 12 and 20 are unsupported by the credible,
9537competent and substantial evidence.
95413. Proposed findings of fact 32-34 are irrelevant.
95494. Proposed findings of fact 21-31 and 36-111 are subordinate to the facts
9562actually found in this Recommmended Order.
9568Specific Rulings on Proposed Findings of Fact
9575Submitted by Respondent, St. Johns River
9581Water Management District
95841. Each of the following proposed findings of fact is adopted in substance as
9598modified in the Recommended Order. The number in parentheses is the Finding of
9611Fact which so adopts the proposed finding of fact: 1-21(22-46); 22(16); 23(7);
962325(19-21); 29-31(12-14); and 32-142(43-153).
96272. Proposed findings of fact 24 and 26-28 are subordinate to the facts actually
9641found in this Recommended Order.
9646COPIES FURNISHED:
9648William Nassau
96504680 Cedar Road
9653New Smyrna Beach, FL 32168
9658Nancy B. Barnard
9661Eric Olsen
9663Attorneys at Law
9666St. Johns River Water
9670Management District
9672P.O. Box 1429
9675Palatka, FL 32178-1429
9678Roger Sims
9680Rory Ryan
9682Lynda Goodgame
9684Attorneys at Law
9687Holland & Knight
9690P.O. Box 1526
9693Orlando, FL 32802
9696Wayne Flowers, Executive Director
9700St. Johns River Water Management
9705District
9706P.O. Box 1429
9709Palatka, FL 32178-1429
9712NOTICE OF RIGHT TO SUBMIT EXCEPTIONS:
9718All parties have the right to submit written exceptions to this Recommended
9730Order. All agencies allow each party at least 10 days in which to submit
9744written exceptions. Some agencies allow a larger period within which to submit
9756written exceptions. You should contact the agency that will issue the final
9768order in this case concerning agency rules on the deadline for filing exceptions
9781to this Recommended Order. Any exceptions to this Recommended Order should be
9793filed with the agency that will issue the final order in this case.
- Date
- Proceedings
- Date: 06/12/1992
- Proceedings: (Agency) Final Order filed.
- Date: 06/08/1992
- Proceedings: Notice of Appearance of Counsel filed. (From Mark R. Hall)
- PDF:
- Date: 05/13/1992
- Proceedings: Recommended Order sent out. CASE CLOSED. Hearing held 03/24-26/92.
- Date: 05/07/1992
- Proceedings: (Respondent) Motion for Determination of Improper Purpose and Award of Attorney`s Fees and Costs filed.
- Date: 05/06/1992
- Proceedings: (Petitioner) Motion for Reconsideration of Evidentiary Rulings and Motion for New Hearing filed.
- Date: 04/27/1992
- Proceedings: Letter. to DKK from R. Sims enclosing computer disk containing Commission`s Porposed Recommended Order (which was previously filed) filed.
- Date: 04/24/1992
- Proceedings: (St Johns River Water Mgmt Dist) Computer Disk filed.
- Date: 04/23/1992
- Proceedings: Respondent`s Proposed Recommended Order filed.
- Date: 04/23/1992
- Proceedings: Proposed Recommended Order of St. Johns River Water Management District filed.
- Date: 04/22/1992
- Proceedings: Petitioner`s Proposed Recommended Order filed.
- Date: 04/13/1992
- Proceedings: Transcript (Vols 1-5) filed.
- Date: 04/02/1992
- Proceedings: Subpoena; Subpoena Duces Tecum; Affidavit of Service (2); & Cover Letter from L. Anson filed.
- Date: 04/01/1992
- Proceedings: (Petitioner) Motion for Continuance and in the Alternative Motion to Withdraw filed.
- Date: 03/26/1992
- Proceedings: CASE STATUS: Hearing Held.
- Date: 03/24/1992
- Proceedings: Deposition of Selmer C. Uhr ; (Petitioner) Motion to Quash Subpoena Duces Tecum (3); Notice of Filing filed.
- Date: 03/20/1992
- Proceedings: Respondent`s, St. Johns River Water Management District`s Second Notice of Service of Additional Answers to Interrogatories filed.
- Date: 03/20/1992
- Proceedings: Respondent`s, St. Johns River Water Management District`s Notice of Service of Additional Answers to Interrogatories filed.
- Date: 03/19/1992
- Proceedings: Prehearing Stipulation filed. (From Roger W. Sims)
- Date: 03/19/1992
- Proceedings: (Respondent) Notice of Filing w/Stipulation filed.
- Date: 03/19/1992
- Proceedings: (Respondent) Notice of Filing w/Stipulation filed.
- Date: 03/19/1992
- Proceedings: Deposition of Sydney Bacchus ; Deposition of Victor W. Carlisle ; Deposition of William Nassau filed.
- Date: 03/18/1992
- Proceedings: Respondent`s, St. Johns River Water Management District`s Notice of Service of Answers to Interrogatories filed.
- Date: 03/18/1992
- Proceedings: Notice of Service of Petitioner William Nassau`s First Set of Interrogatories to Respondent St. Johns River Water Management District w/Answers to Interrogatories of William Nassau filed.
- Date: 03/16/1992
- Proceedings: (Respondent) Second Notice of Taking Deposition Duces Tecum w/Subpoena Duces Tecum filed.
- Date: 03/13/1992
- Proceedings: Response to Respondent`s Motion for Clarification of Scope of Hearing; & Cover Letter to DKK from C. D`Andrea filed.
- Date: 03/13/1992
- Proceedings: (SJRWMD) Motion for Official Recognition (+ att's) filed.
- Date: 03/11/1992
- Proceedings: (Respondent) Motion for Clarification of Scope of Hearing filed.
- Date: 03/09/1992
- Proceedings: (Respondent) Notice of Taking Deposition Duces Tecum filed.
- Date: 02/20/1992
- Proceedings: (Respondent) First ReNotice of Taking Deposition Duces Tecum filed.
- Date: 02/18/1992
- Proceedings: Order on Motions and Rescheduling Hearing sent out. (Motion to Expedited Discovery granted; Motion for Protect Order denied; Motion for Continuance granted; hearing set for March 24-26, 1992; 9:00am; New Smyrna Beach; Motion for Attorney`s Fees denied
- Date: 02/18/1992
- Proceedings: Letter to DKK from Peter B. Belmont (re: giving authorization to Ms. C. D.'Andrea to enter in to settlement agreement if one is reached doing absence) filed.
- Date: 02/18/1992
- Proceedings: Notice of Service of Petitioner William Nassau`s First Set of Interrogatories to Respondent St. Johns River Water Management District; Petitioner`s First Request to Produce to Respondent St. Johns River Water management District filed.
- Date: 02/13/1992
- Proceedings: Respondent's, Utilities Commission of New Smyrna Beach, Memorandum inOpposition to Petition's Motion for Continuance and Motion for Protective Order, and Respondent's, Utilities Commission of New Smyrna Beach, Motion for Attorney' s Fees filed.
- Date: 02/11/1992
- Proceedings: Order Denying Motion to Dismiss sent out.
- Date: 02/11/1992
- Proceedings: (Petitioner) Motion for Continuance; Motion for Protective Order filed.
- Date: 02/10/1992
- Proceedings: (Petitioner) Response to Motion to Dismiss filed.
- Date: 02/07/1992
- Proceedings: (Utilities Commission) Notice of Taking Deposition Duces Tecum; Respondent`s, Utilities Commission of New Smyrna Beach, Motion for Expedited Discovery; Notice of Service of Interrogatories filed. (From Roger W. Sims)
- Date: 02/06/1992
- Proceedings: Respondent, St. Johns River Water Management District's Notice of Propounding First Set of Interrogatories to William Nassau filed.
- Date: 02/04/1992
- Proceedings: Order of Prehearing Instructions sent out.
- Date: 02/04/1992
- Proceedings: Notice of Hearing sent out. (hearing set for March 16-20, 1992; 1:00pm; Deland).
- Date: 02/04/1992
- Proceedings: Letter to DKK from P. Belmont (re: avail hearing info) filed.
- Date: 02/03/1992
- Proceedings: (Respondent) Response to Order Dated 21, January 1992 filed.
- Date: 01/29/1992
- Proceedings: Motion to Dismiss filed.
- Date: 01/21/1992
- Proceedings: (Prehearing) Order sent out.
- Date: 01/16/1992
- Proceedings: Notice; Petition for Hearing; Notice of Transcription; Response to Motion to Consolidate filed.
- Date: 01/15/1992
- Proceedings: Petition for Hearing w/supporting attachments & St. Johns River Water Management District`s Motion to Consolidate w/Exhibit-A filed.
- Date: 01/03/1992
- Proceedings: (CFWS) Motion for Disqualification of Hearing Officer; Affidavit; & Cover Letter to SLS from P. Belmont filed.
Case Information
- Judge:
- DIANE K. KIESLING
- Date Filed:
- 01/16/1992
- Date Assignment:
- 01/16/1992
- Last Docket Entry:
- 06/12/1992
- Location:
- New Smyrna Beach, Florida
- District:
- Northern
- Agency:
- Water Management Districts