15-004975
Wwals Watershed Coalition, Inc. vs.
Sabal Trail Transmission, Llc, And Department Of Environmental Protection
Status: Closed
Recommended Order on Friday, December 11, 2015.
Recommended Order on Friday, December 11, 2015.
1STATE OF FLORIDA
4DIVISION OF ADMINISTRATIVE HEARINGS
8WWALS WATERSHED COALITION, INC.,
12Petitioner,
13vs. Case No. 15 - 4975
19SABAL TRAIL TRANSMISSION, LLC,
23AND DEPARTMENT OF ENVIRONMENTAL
27PROTECTION,
28Respondents.
29_______________________________/
30RECOMMENDED ORDER
32The final hearing in this case was held on October 19
43through 21, 2015, in Jasper, Florida before Bram D. E. Canter,
54an Administrative Law Judge of the Division of Administrative
63Hearings (ÐDOAHÑ).
65APPEARANCES
66For Petitioner WWA LS Watershed Coalition, Inc. (ÐWWALSÑ) :
75William R. Wohlsifer, Esquire
79Leighanne C. Boone, Esquire
83William R. Wohlsifer, P . A .
901100 East Park Avenue, Suite B
96Tallahassee, Florida 32301
99For Respondent Sabal Trail Transmission, LLC (ÐSabal
106TrailÑ) :
108Richard S. Brightman, Esquire
112Timothy M. Riley, Esquire
116H. French Brown, IV, Esquire
121Hopping, Green and Sams
125Post Office Box 6526
129Tallahassee, Florida 32314
132For Respondent Department of Environmental Protection
138(ÐDepartmentÑ) :
140Jack Chisolm, Esquire
143Sidney C. Bigham, III, Esquire
148Department of Environmental Protection
152Mail Station 35
1553900 Commonwealth Boulevard
158Tallahassee, Florida 32399
161STATEMENT OF THE ISS UE
166The issue to be determined in this case is whether Sabal
177Trail is entitled to the proposed Environmental Resource Permit
186and Easement to Use Sovereign Submerged Lands to construct a
196natural gas pipeline .
200PRELIMINARY STATEMENT
202On July 10, 2015, the Depar tment published its Consolidated
212Notice of Intent to Issue Environmental Resource Permit and
221Easement to Use Sovereign Submerged Lands to Sabal Trail. On
231August 7, 2015, WWALS filed a petition for hearing with the
242Department to challenge the validity of t hese two authorizations.
252The Department dismissed WWALSÓ petition, but granted leave
260to amend. WWALS filed an amended petition, which added its
270subsidiary corporation, WWALS Watershed Coalition Florida, Inc.
277(ÐWWALS - FLÑ) , as a second Petitioner. The Depa rtment dismissed
288the petition of WWALS - FL as untimely and struck portions of
300WWALSÓ amended petition. The Department then referred the
308amended petition to DOAH. WWALS was permitted to amend its
318petition again, but upon motion, certain claims in the last
328amended petition were struck because they were not cognizable in
338this state administrative proceeding.
342On September 21, 2015, Sabal Trail filed a motion for
352summary hearing pursuant to section 403.973(14)(b), Florida
359Statutes (2015), which was granted.
364At the final hearing, WWALS presented the testimony of:
373Dennis Price, an expert in geology; Donald M. Thieme, an expert
384in geomorphology; Richard Gamble, Suwannee County Commissioner;
391Carlos Herd, Director of the Water Supply Division for the
401Suwannee River W ater Management District; Dale Jenkins, Bureau
410Chief of the Bureau of Project Management with the Saint Johns
421River Water Management District; Guy Means, Florida Geological
429Survey; Lisa Prather, environmental consultant for the
436DepartmentÓs Central Distric t; and 13 WWALS members: David
445Shields, John Quarterman, Joe McClung, Thomas Edwards, Deanna
453Mericle, Christopher Mericle, Donna Ellison, Wayne Ellison,
460Merrilee Malwitz - Jipson, Dana Stevens, Debra Johnson, Richard
469Gamble, Willard Randall, and Lori McCran ey.
476Sabal Trail presented the testimony of: Jim Abrosino, an
485expert in archeology; David Dickson, senior consultant for
493Cardno, Inc. , and part of the Permit team responsible for putting
504together the application; David Shammo, corporate representative
511of S pectra Energy Partners, LP; Marty Bass, an expert in pipeline
523construction management; Gregg Jones, an expert in geology and
532hydrogeology; and Alan K. Lambeth, an expert in natural gas
542pipeline design and operations.
546The Department presented the testimony of Lisa Prather.
554Joint Exhibits 1 through 12 were admitted into evidence.
563Sabal TrailÓs Exhibits 1 through 55 were admitted into evidence.
573PetitionerÓs Exhibits 1 through 12 were admitted into evidence.
582The six - volume Transcript of the final hearing was filed
593with DOAH. The parties submitted proposed recommended orders
601that were considered in the preparation of this Recommended
610Order.
611FINDINGS OF FACT
614The Parties
6161. Petitioner, WWALS, is a Georgia not - for - profit
627corporation registered with the Florida D epartment of State as a
638Foreign Not For Profit Corporation. Its mailing address is in
648Hahira, Georgia.
6502. WWALSÓ mission is to advocate for conservation and
659stewardship of the Withlacoochee, Willacoochee, Alapaha, Little,
666and Upper Suwannee River watersh eds in South Georgia and North
677Florida.
6783. WWALS stated in its petition that it has a total of 85
691members, 36 of whom reside in Florida. The total number of WWALS
703members was not established at the final hearing. If members
713that joined WWALS after it fi led its petition for hearing are
725included, WWALS has about 40 members living in Hamilton County
735and Suwannee County .
7394. Sabal Trail is a Delaware limited liability company that
749is registered to do business in the State of Florida. It is the
762applicant for the authorizations that are challenged by
770Petitioner.
7715. The Department is the state agency charged with
780administering the Environmental Resource Permitting program under
787chapter 373, Florida Statutes, and Florida Administrative Code
795Chapters 62 - 4 and 62 - 330.
8036. The Department is also the state agency authorized by
813chapter 253, Florida Statutes, and Florida Administrative Code
821Chapter 18 - 21, to review and authorize certain uses of state -
834owned submerged lands.
837General Project Description
8407. Sabal Trail p roposes to construct an interstate natural
850gas pipeline. The primary purpose of the pipeline is to support
861electric power generation in Florida.
8668. The pipeline would start in the vicinity of a
876Transcontinental Gas Pipeline Company station in Tallapoosa
883County in Alabama. The portion of the pipeline in Florida would
894cross twelve Florida counties, entering the state in Hamilton
903County and terminating in Osceola County.
9099. The pipeline would include 232.75 miles of 36 - inch
920diameter pipe for the Mainline R oute, 13.1 miles of 36 Î inch
933diameter pipe for the HunterÓs Creek Line, and 21.5 miles of 24 -
946inch pipe for the Citrus County Line.
95310. The pipe used would be made of high - strength ductile
965carbon steel.
96711. The project would include construction and operat ion of
977three compressor stations and three meter and regulation stations
986in Florida. There would also be access roads, pig launcher and
997receiver stations, mainline valves, and pipe storage/work areas.
100512. Most of the pipeline would be installed using a
1015c onventional Ðcut and coverÑ technique, which means a trench is
1026excavated, sections of pipe are placed in the trench and
1036connected, and the trench is backfilled with soil excavated from
1046the trench.
104813. However, waterbodies along the route, including the
1056Su wannee River and Santa Fe River, would be crossed using
1067Horizontal Directional Drilling (ÐHDDÑ). The HDD method involves
1075boring a pilot hole beneath the waterbody and then enlarging the
1086hole with one or more passes of a reamer until the hole is large
1100enou gh to pull a prefabricated pipe segment through the hole.
1111The pipeline would be installed more than 40 feet beneath the
1122Suwannee River and Santa Fe River.
112814. During HDD operations, drilling fluid or ÐmudÑ is used
1138to lubricate the drill head, and remove cuttings from the hole.
1149Drilling mud is a non - toxic, naturally occurring, bentonite clay,
1160which is commonly used for drilling water wells.
116815. The pipeline will require a permanent 50 - foot right - of -
1182way.
118316. Because the construction would require digging trenches
1191through wetlands, drilling under riverbeds, and construction of
1199stormwater management systems for the various stations, an
1207environmental resource permit from the Department must be
1215obtained for the work. Because some construction is over state -
1226o wned submerged lands, authorization from the Trustees of the
1236Internal Improvement Trust Fund is also required.
1243Route Selection
124517. The pipeline route was selected based on environmental
1254and cultural resource factors and co - location opportunities with
1264exis ting utility rights - of - way. The proposed route was modified
1277many times to reduce environmental impacts and respond to
1286landowner requests.
128818. The pipeline runs parallel to two existing natural gas
1298pipelines that cross the Santa Fe River.
130519. The closest major spring to the pipeline route would be
1316Madison Blue Spring, 1.7 miles away. The route is closer to some
1328smaller springs, but it would not cross near spring vents or
1339areas of concentrated spring flow.
134420. The pipeline would cross above the Falmouth Cave
1353system. However, the pipeline would be only four - to - six feet
1366beneath the land surface. The cave system is more than 100 feet
1378below ground.
138021. Sabal Trail reduced or eliminated impacts to wetlands
1389and waterbodies along the pipeline route, but the p roject would
1400result in unavoidable temporary and permanent losses of portions
1409of wetlands along the route. The functional loss of wetland
1419functions, as calculated under the Uniform Mitigation Assessment
1427Method (ÐUMAMÑ), would be offset by Sabal TrailÓs pu rchase of
1438credits from approved wetland mitigation banks.
1444PetitionerÓs Objections
144622. The primary concern of WWALS and its members is the
1457possibility of environmental impacts arising from the
1464construction of the pipeline in karst terrain.
147123. Karst terra in, which is limestone undergoing
1479dissolution and characterized by the formation in the limestone
1488of holes, cracks, fissures, conduits, and sinkholes, is common in
1498North Florida and throughout the State.
150424. Although fragile in particular locations, karst terrain
1512is able to support large linear facilities in North Florida such
1523as Interstate 10, Interstate 75, and railroads, which bear loads
1533of many tons without collapses occurring in the underlying
1542limestone.
154325. Sabal Trail conducted geophysical tests, e valuated the
1552potential for sinkhole formation, developed drilling best
1559management practices, and prepared a karst mitigation plan to
1568address potential adverse circumstances that might arise during
1576construction of the pipeline.
158026. The pipeline design spec ifications provide reasonable
1588assurance that the formation of a sinkhole along the path of the
1600pipeline would not cause it to break.
160727. It is in the interests of Sabal Trail to build and
1619operate the pipeline so that breaks or disruptions of service do
1630no t occur.
163328. There are existing natural gas pipelines that were
1642constructed under the Suwannee River and Santa Fe River. A
1652geologist with t he Florida Geological Survey testified that he
1662was unaware of any adverse impacts that have been associated with
1673th ese other pipelines.
167729. WWALS presented no evidence of adverse impacts that
1686have been caused by similar pipelines in similar areas.
169530. PetitionerÓs members are afraid the pipeline will cause
1704adverse impacts because of its construction in karst terrain, but
1714with the exception of four WWALS members whose properties would
1724be crossed by the pipeline, the concerns expressed by members
1734about how they would be affected were vague and speculative. Not
1745all of the potential pipeline impacts described by WWALS me mbers
1756were vague or speculative, but the membersÓ injuries were vague
1766and speculative. For example, it was not adequately explained
1775how a sinkhole, if one were to occur along the route of the
1788pipeline, would affect them.
179231. WWALS expressed concerns abou t water quality, but the
1802use of drilling mud and grout for the HDD operations is unlikely
1814to affect the residential water wells of any member or non -
1826member. Nor would it affect the water quality of the rivers
1837under which the pipeline is installed, because the amount of
1847drilling mud and grout is so small in relation to groundwater
1858volumes.
185932 . WWALS expressed general concerns about fish and
1868wildlife impacts, but no member identified any particular wetland
1877impact caused by construction of the pipeline that would directly
1887affect him or her and Petitioner presented no competent evidence
1897to refute the UMAM assessment or the reasonableness of the
1907proposed mitigation. No competent evidence was presented about
1915the possibility that HDD drilling under the rivers co uld result
1926in adverse impacts to fish and wildlife.
193333. Some WWALS members testified they use and enjoy the
1943rivers and surrounding area, but the concerns about adverse
1952impacts to their use and enjoyment were speculative, being based
1962on the proposition tha t a sinkhole or other disruption of the
1974limestone will be caused by the construction of the pipeline and
1985it will cause a change in the rivers or land to a degree that
1999their use and enjoyment of the rivers or land will be materially
2011diminished. Petitioner did not establish the connection between
2019pipeline impacts and interference with membersÓ use of area
2028waters.
202934. One member testified he has an organic farm and
2039believes it would be adversely affected by air pollution from a
2050proposed compressor station fo r the pipeline, but there is a
2061separate permit associated with the air quality impacts of the
2071pipeline. Air quality is not a cognizable issue in this
2081proceeding.
208235. A few members believe there could be impacts that would
2093adversely affect their business interests, which are not
2101interests that this proceeding was designed to protect.
210936. Although a substantial number of WWALS members have
2118substantial interests in the use and enjoyment of the waters and
2129environment of Hamilton County and Suwannee County, a showing of
2139potential injury to those interests was only established in the
2149record for four WWALS members -- the four who own land that the
2162pipeline will cross.
216537. Four members is not a substantial number when compared
2175to the total number of WWALS members living in Hamilton County
2186and Suwannee County, which is about forty.
2193Public Interest
219538. For projects located in, on, or over wetlands or other
2206surface waters, an applicant must provide reasonable assurance
2214that the project will not be contrary to the pub lic interest, or
2227if such activities significantly degrade or are within an
2236Outstanding Florida Water, are clearly in the public interest, as
2246determined by balancing the criteria set forth in rule
225562 - 330.302.
225839. Rule 62 - 330.302(1)(a) lists seven public in terest
2268factors to be considered and balanced:
22741 Whether the activity will adversely affect
2281the public health, safety, or welfare or the
2289property of others;
22922. Whether the activity will adversely
2298affect the conservation of fish and wildlife,
2305including en dangered or threatened species,
2311or their habitats;
23143. Whether the activity will adversely
2320affect navigation or the flow of water or
2328cause harmful erosion or shoaling;
23334. Whether the activity will adversely
2339affect the fishing or recreational values or
2346m arine productivity in the vicinity of the
2354activity;
23555. Whether the activity will be of a
2363temporary or permanent nature;
23676. Whether the activity will adversely
2373affect or will enhance significant historical
2379and archaeological resources under the
2384provisio ns of s. 267.061; and
23907. The current condition and relative value
2397of functions being performed by areas
2403affected by the proposed activity.
240840. Petitioner presented no competent evidence to refute
2416the evidence presented by Sabal Trail and the Department that the
2427pipeline project would not result in adverse impacts on public
2437health, safety, or welfare. Beyond general, undisputed evidence
2445about the characteristics of karst geology, no competent evidence
2454was presented by Petitioner to show that a karst - rel ated impact
2467could occur that would affect its members.
247441. Petitioner presented no competent evidence to refute
2482the evidence presented by Sabal Trail and the Department that the
2493pipeline would not cause adverse impacts to fish and wildlife.
250342. Petitione r presented no competent evidence to refute
2512the evidence presented by Sabal Trail and the Department that the
2523project would not cause adverse impacts to navigation or the flow
2534of water or cause harmful erosion or shoaling.
254243. Petitioner presented no comp etent evidence to refute
2551the evidence presented by Sabal Trail and the Department that the
2562project would not cause adverse impacts to fishing or
2571recreational values or marine productivity.
257644. It is undisputed that some of the pipeline impacts and
2587the pip eline, itself, will be of a permanent nature.
259745. Petitioner presented no competent evidence to refute
2605the evidence presented by Sabal Trail and the Department that the
2616proposed pipeline would not adversely affect significant
2623historical and archaeological resources.
262746. Petitioner presented no competent evidence to refute
2635the evidence presented by Sabal Trail and the Department that the
2646proposed pipeline would not adversely affect the current
2654condition and relative value of environmental functions being
2662p erformed in the area that would not be fully mitigated.
267347. Considering the seven public interest factors listed
2681above, the proposed pipeline is not contrary to the public
2691interest.
269248. The Suwan n ee River and Santa Fe River have been
2704designated as Outsta nding Florida Waters. Any activities that
2713would affect them must be shown to be clearly in the public
2725interest. As discussed in the Conclusions of Law, demonstrating
2734that a project is clearly in the public interest requires greater
2745assurance that all per mitting requirements will be complied with.
2755Sabal Trail showed clearly that it will comply with all
2765permitting criteria.
276749. Rule 62 - 4.242 prohibits the degradation of water
2777quality in an Outstanding Florida Water. Sabal Trail and the
2787Department showed the construction and operation of the pipeline
2796would not degrade the water quality of the Suwan n ee River or
2809Santa Fe River.
281250. Rule 18 - 21.004(1)(a) requires that activities on
2821sovereignty submerged lands not be contrary to the public
2830interest. Rule 18 - 2 1.003(51) defines public interest in this
2841context as:
2843Demonstrable environmental, social, and
2847economic benefits which would accrue to the
2854public at large as a result of a proposed
2863action, and which would clearly exceed all
2870demonstrable environmental, socia l, and
2875economic cost of the proposed action.
2881Therefore, to obtain authorization to use sovereignty submerged
2889lands easement, an applicant must create a net public benefit.
289951. Sabal Trail and the Department demonstrated the project
2908creates a net public b enefit because it would not have adverse
2920environmental impacts that would not be fully mitigated and the
2930project addresses a need determined by the Public Service
2939Commission for additional natural gas transportation capacity
2946into Florida, enhancement of na tural gas supply diversity and
2956reliability, and increased competition for natural gas
2963transportation services.
296552. WWALS contends the proposed project would conflict with
2974rule 18 - 21.004(2)(a), which requires that all sovereignty
2983submerged lands be primari ly managed to maintain Ðessentially
2992natural conditions, propagation of fish and wildlife, and
3000traditional recreational uses such as fishing, boating, and
3008swimming.Ñ However, WWALS presented no competent evidence to
3016show that any sovereignty submerged land s would lose their
3026essential natural conditions, that fish and wildlife propagation
3034would be diminished, or that traditional recreational uses would
3043be interfered with. The proposed project complies with the
3052requirement of rule 18 - 21.004(2).
3058CONCLUSIONS O F LAW
3062Standing
306353. Standing to participate in a section 120.57(1)
3071proceeding is afforded to persons whose substantial interests
3079will be affected by proposed agency action. See § 120.52(13)(b),
3089Fla. Stat. (2015) .
309354. For an association to establish stand ing as a party, it
3105must prove that a substantial number of its members, but not
3116necessarily a majority, have a substantial interest that
3124reasonably could be affected, that the subject matter of the
3134proposed activity is within the general scope of the inter ests and
3146activities for which the organization was created, and that the
3156relief requested is of the type appropriate for the organization
3166to receive on behalf of its members. Fla. Home Builders AssÓn v.
3178DepÓt of Labor & Emp . Sec. , 412 So. 2d 351 (Fla. 198 2) .
319355. Economic or business interests are not substantial
3201interests in this environmental permitting proceeding. Agrico
3208Chem. Co. v. Dep't of Envtl. Reg. , 406 So. 2d 478, 482 (Fla. 2d
3222DCA 1981).
322456. An association cannot establish its standing based on
3233its corporate mission or solely on the substantial interests of
3243its members. Fla . Home Builders , supra . A ÐriverkeeperÑ
3253organization like WWALS cannot establish its standing in a case
3263involving the very rivers it keeps without demonstrating that a
3273subst antial number of its members could be injured.
328257. At hearing, a petitioner establishes its standing by
3291offering evidence to prove its substantial interests could be
3300affected by the agencyÓs action. St. Johns Riverkeeper, Inc. v.
3310St. Johns River Water Mg mt. Dist. , 54 So. 3d 1051, 1054 (Fla. 5th
3324DCA 2011). However, the evidence offered must be ÐgoodÑ
3333evidence; that is, competent and non - speculative.
334158. The speculative concerns of WWALS members regarding the
3350pipelineÓs impacts on their use and enjoyment of the Suwan n ee
3362River, Santa Fe River, and surrounding areas, are not sufficient
3372to confer standing. See Menorah Manor, Inc. v. Ag. for Health
3383Care Admin. , 908 So. 2d 1100, 1104 (Fla. 1st DCA 2005).
339459. WWALS failed to establish its standing because it d id
3405not show that a substantial number of its members could be
3416affected by the project.
342060. In its amended petition, WWALS cites section
3428403.412(5), which allows a citizen of the state to intervene in
3439an ongoing section 120.569 or section 120.57 proceeding by filing
3449a verified pleading. However, section 403.412(5) does not
3457authorize a citizen to initiate a proceeding under section
3466120.569 or 120.57. Furthermore, WWALS is not a Ðcitizen of the
3477stateÑ because it is a Georgia corporation. Therefore, section
3486403.412(5) does not provide WWALS another basis for standing.
349561. WWALS failed to demonstrate standing. However, because
3503an evidentiary hearing was held and evidence on the merits was
3514received, findings and fact and conclusions of law on the merits
3525are presented in this Recommended Order.
3531Burden and Standard of Proof
353662. A chapter 120 proceeding is a de novo proceeding
3546intended to formulate final agency action, not to review action
3556taken earlier and preliminarily. McDonald v. DepÓt of Banking
3565Fin. , 346 So. 2d 569, 584 (Fla. 1st DCA 1977).
357563. Because chapter 373, Florida Statutes, governs the
3583issuance of the Environmental Resource Permit, subsection
3590120.569(2)(p) applies and it places the ultimate burden of
3599persuasion upon WWALS to prove Sabal Trails i s not entitled to
3611the permit.
361364. The authorization to use sovereign submerged lands was
3622issued under chapter 253. Under that chapter, the applicant has
3632the burden of ultimate persuasion to demonstrate its entitlement
3641to the authorization. See Fla. DepÓ t of Transp. v . J.W.C. Co.,
3654Inc. , 396 So. 2d 778 (Fla. 1st DCA 1981).
366365. An applicant must provide reasonable assurance that it
3672will comply with all applicable regulatory criteria. Reasonable
3680assurance means a Ðsubstantial likelihood that the project wi ll
3690be successfully implemented.Ñ See Metro. Dade Cnty. v. Coscan
3699Fla., Inc. , 609 So. 2d 644, 648 (Fla. 3d DCA 1992). Reasonable
3711assurance does not require absolute guarantees. See Save Anna
3720Maria, Inc. v. Dep't of Transp. , 700 So. 2d 113, 117 (Fla. 2d D CA
37351997).
373666. If an activity significantly degrades or is in an
3746Outstanding Florida Water, the applicant must provide reasonable
3754assurance that the activity will be clearly in the public
3764interest. Fla. Admin. C ode R . 62 - 4.242. To be clearly in the
3779publi c interest does not require a demonstration of need or net
3791public benefit. See 1800 Atlantic Developers v. Dep't of Envtl.
3801Reg. , 552 So. 2d 946, 957 (Fla. 1st DCA 1989). It requires
3813greater assurance that a project will comply with applicable
3822criteria. See AngeloÓs Aggregate Materials, Ltd. v. DepÓt of
3831Envtl. Prot. , Case No. 09 - 1543 (Fla. DOAH June 28, 2013)(The
3843quantum of assurance that is deemed reasonable by the Department
3853should depend on the potential harm.) .
386067. The standard of proof is a preponde rance of the
3871evidence. See § 120.57(1)(j), Fla. Stat. (2015).
387868. Chapter 373, Part IV, rule chapter 62 - 330, and the
3890Environmental Resource Permit ApplicantÓs Handbook establish the
3897criteria for issuance or denial of a requested Environmental
3906Resource Pe rmit. Sabal Trail provided reasonable assurance that
3915the pipeline project will comply with all applicable permitting
3924criteria.
392569. Because Sabal Trail clearly demonstrated compliance
3932with all applicable regulatory criteria, the project is clearly
3941in the public interest.
394570. WWALS failed to prove that Sabal Trail is not entitled
3956to the Environmental Resource Permit.
396171. Pursuant to Fl orida Administrative Code Rule
396918 - 21.004(1)(a) - (b), activities on sovereignty lands must not be
3981contrary to the public int erest, and all easements for
3991sovereignty land activities must contain such terms, conditions,
3999or restrictions as deemed necessary to protect and manage those
4009sovereignty lands. Sabal TrailÓs proposed project meets these
4017requirements.
401872. Sabal Trail prov ed the pipeline project will comply
4028with all applicable criteria and that it is entitled to the
4039easement for use of sovereign submerged lands.
4046RECOMMENDATION
4047Based on the foregoing Findings of Fact and Conclusions of
4057Law, it is
4060RECOMMENDED that the Depart ment of Environmental Protection
4068issue a f inal o rder that approves issuance of Environmental
4079Resource Permit No. 0328333 - 001 and grants an easement to use
4091sovereign submerged lands to Sabal Trail Transmission, LLC , for
4100the Sabal Trail Natural Gas Pipeline.
4106DONE AND ENTERED this 11th day of December , 2015 , in
4116Tallahassee, Leon County, Florida.
4120S
4121BRAM D. E. CANTER
4125Administrative Law Judge
4128Division of Administrative Hearings
4132The DeSoto Building
41351230 Apalachee Parkway
4138Tallahas see, Florida 32399 - 3060
4144(850) 488 - 9675
4148Fax Filing (850) 921 - 6847
4154www.doah.state.fl.us
4155Filed with the Clerk of the
4161Division of Administrative Hearings
4165this 11th day of December , 2015 .
4172COPIES FURNISHED:
4174Richard S. Brightman, Esquire
4178Timothy M. Riley, Es quire
4183H. French Brown , IV, Esquire
4188Hopping, Green and Sams
4192Post Office Box 6526
4196Tallahassee, Florida 32314
4199(eServed)
4200Gus McLachlan
4202Sabal Trail Transmission, LLC
4206Suite 300
4208400 Colonial Center Parkway
4212Lake Mary, Florida 32746
4216John S. Quarterman, Presiden t
4221WWALS Watershed Coalition, Inc.
4225Post Office Box 88
4229Hahira, Georgia 31632
4232(eServed)
4233Jack Chisolm, Esquire
4236Si d ney C. Bigham, III, Esquire
4243Department of Environmental Protection
4247Mail Station 35
42503900 Commonwealth Boulevard
4253Tallahassee, Florida 32399
4256(eSer ved)
4258William R. Wohlsifer, Esquire
4262Leighanne C. Boone, Esquire
4266William R. Wohlsifer, P . A .
42731100 East Park Avenue , Suite B
4279Tallahassee, Florida 32301
4282(eServed)
4283Jonathan P. Steverson, Secretary
4287Department of Environmental Protection
4291Mail Station 35
42943900 C ommonwealth Boulevard
4298Tallahassee, Florida 32399
4301(eServed)
4302Craig Varn, General Counsel
4306Department of Environmental Protection
4310Mail Station 35
43133900 Commonwealth Boulevard
4316Tallahassee, Florida 32399
4319(eServed)
4320Lea Crandall, Agency Clerk
4324Department of Environmental Protection
4328Mail Station 35
43313900 Commonwealth Boulevard
4334Tallahassee, Florida 32399
4337(eServed)
4338NOTICE OF RIGHT TO SUBMIT EXCEPTIONS
4344All parties have the right to submit written exceptions within
435415 days from the date of this Recommended Ord er. Any exceptions
4366to this Recommended Order should be filed with the agency that
4377will issue the Final Order in this case.
- Date
- Proceedings
- PDF:
- Date: 01/15/2016
- Proceedings: Florida Department of Environmental Protection's Responses to Petitioner, WWALS Watershed Coalition, Inc.'s Exceptions filed.
- PDF:
- Date: 01/15/2016
- Proceedings: Respondent, Sabal Trail Transmission, LLC's , Response to Petitioner, WWALS Watershed Coalition, Inc.'s Exceptions to Recommended Order filed.
- PDF:
- Date: 12/11/2015
- Proceedings: Recommended Order cover letter identifying the hearing record referred to the Agency.
- PDF:
- Date: 12/11/2015
- Proceedings: Recommended Order (hearing held October 19 through 21, 2015). CASE CLOSED.
- PDF:
- Date: 12/11/2015
- Proceedings: Notice of Filing Sabal Trail's Exhibit for Identification 55, Resume of Richard H. Parham filed.
- PDF:
- Date: 11/18/2015
- Proceedings: Petitioner's Response Opposition to Sabal Trail Transmission, LLC's Motion to Strike Petitioner's Proposed Final Order filed.
- PDF:
- Date: 11/17/2015
- Proceedings: Respondent, Sabal Trail Transmission, LLC's Motion to Strike Petitioner's Proposed Final Order filed.
- PDF:
- Date: 11/16/2015
- Proceedings: State of Florida Department of Environmental Protection's Proposed Recommended Order filed.
- PDF:
- Date: 11/16/2015
- Proceedings: Notice of Filing (Respondent's) Proposed Recommended Order filed.
- Date: 11/06/2015
- Proceedings: Transcript of Proceedings (Volume III and IV; not available for viewing) filed.
- PDF:
- Date: 11/05/2015
- Proceedings: DEP's Opposition to WWALS' Motion for Judicial Notice and to Supplement the Record filed.
- Date: 11/04/2015
- Proceedings: Transcript of Proceedings (Volume I and II; not available for viewing) filed.
- Date: 11/04/2015
- Proceedings: Transcript of Proceedings (Volume V and VI; not available for viewing) filed.
- PDF:
- Date: 11/04/2015
- Proceedings: Amended Motion to take Judicial Notice of EPA Report to FERC Dated October 26, 2015 and to Supplement the Record with Evidence Unavailable at the Time of Hearing filed.
- PDF:
- Date: 11/03/2015
- Proceedings: Department of Environmental Protection's Motion to Strike Petitoner's Motion for Judicial Notice filed.
- PDF:
- Date: 11/02/2015
- Proceedings: Respondent, Sabal Trail Transmission, LLC's, Response in Opposition to WWALS Watershed Coalition, Inc.'s Motion to Take Judicial Notice of EPA Report to FERC Dated October 26, 2015, and to Supplement the Reocrd with Evidence Unavailable at the Time of Hearing filed.
- PDF:
- Date: 10/30/2015
- Proceedings: (Petitioner's) Motion to Take Judicial Notice of EPA Report to FERC Dated October 26, 2015 and to Supplement the Record with Evidence Unavailable at the Time of Hearing filed.
- Date: 10/23/2015
- Proceedings: Exhibits Admitted during Final Hearing filed (exhibits not available for viewing).
- Date: 10/19/2015
- Proceedings: CASE STATUS: Hearing Held.
- PDF:
- Date: 10/19/2015
- Proceedings: Suwannee River Water Management District's Motion to Quash Subpoena and/or for Protective Order filed.
- PDF:
- Date: 10/19/2015
- Proceedings: Notice of Appearance of Co-Counsel for Petitioner and Designatgion of E-mail Addresses in Compliance with Mandatory E-mail Service Rule filed.
- PDF:
- Date: 10/19/2015
- Proceedings: Notice of Appearance of Counsel for Petitioner and Designation of E-mail Addresses in Compliance with Mandatory E-mail Service Rule filed.
- PDF:
- Date: 10/16/2015
- Proceedings: Florida Fish and Wildlife Commisison Motion to Quash Subpoena and/or for Protective Order filed.
- PDF:
- Date: 10/16/2015
- Proceedings: WWALS Watershed Coalition, Inc.'s Motion for a Pre-Hearing Conference filed.
- PDF:
- Date: 10/13/2015
- Proceedings: WWALS Watershed Coalition, Inc.s Opposition to Sabal Trail Transmission, LLCs Motion to Strike filed.
- PDF:
- Date: 10/12/2015
- Proceedings: Respondent, Sabal Trail Transmission, LLCs, Motion to Strike filed.
- PDF:
- Date: 10/12/2015
- Proceedings: Amended Notice of Hearing (hearing set for October 19 through 22, 2015; 10:00 a.m.; Jasper, FL; amended as to hearing room location and venue).
- PDF:
- Date: 10/08/2015
- Proceedings: Amended Notice of Hearing (hearing set for October 19 through 22, 2015; 10:00 a.m.; Live Oak, FL; amended as to hearing room location).
- PDF:
- Date: 10/06/2015
- Proceedings: Petitioner, WWALS Watershed Coalition, Inc.'s Response in Opposition to Sabal Trail Transmission, LLC's Motion in Limine and Motion to Strike; Motion to Reconsider filed.
- PDF:
- Date: 10/01/2015
- Proceedings: Sabal Trail Response in Opposition to WWALS-FL Motion to Intervene filed.
- PDF:
- Date: 09/29/2015
- Proceedings: Petitioner, WWALS Watershed Coalition, Inc.'s Request to Notify Interested Parties filed.
- PDF:
- Date: 09/29/2015
- Proceedings: Motion to Intervene (filed by WWALS Watershed Coalition Florida, Inc.) filed.
- PDF:
- Date: 09/28/2015
- Proceedings: Notice and Certificate of Service of the Department of Environmental Protection's Answers to WWALS' Interrogatories filed.
- PDF:
- Date: 09/28/2015
- Proceedings: FDEP's Motion to Modify Discovery Provisions of Order of Prehearing Instructions filed.
- PDF:
- Date: 09/24/2015
- Proceedings: Brief in Opposition to Sabal Trail's Motion for a Summary Hearing filed.
- PDF:
- Date: 09/24/2015
- Proceedings: Notice of Appearance of Co-Counsel and Designation of E-Mail Addresses in Compliance with Mandatory E-Mail Service (Sidney Bigham, III and Jack Chisolm) filed.
- PDF:
- Date: 09/23/2015
- Proceedings: Florida Department of Environmental Protection's Responses to Petitioner's Request for Production filed.
- PDF:
- Date: 09/23/2015
- Proceedings: Respondent Sabal Trail Transmission's Motion in Limine and Motion to Strike filed.
- PDF:
- Date: 09/22/2015
- Proceedings: Notice of Hearing (hearing set for October 19 through 22, 2015; 9:00 a.m.; Jasper, FL).
- PDF:
- Date: 09/21/2015
- Proceedings: Notice of Serving of Petitioner's First Set of Interrogatories to Respondent Department of Environmental Protection filed.
- PDF:
- Date: 09/21/2015
- Proceedings: Motion for Summary Hearing Pursuant to Section 403.973(14)(b), Florida Statutes filed.
- PDF:
- Date: 09/18/2015
- Proceedings: Petitioners First Request to Respondent Department of Environmental Protection to Produce Documents filed.
- PDF:
- Date: 09/11/2015
- Proceedings: WWALS Watershed Coalition's Response to DOAH's Initial Order filed.
- PDF:
- Date: 09/03/2015
- Proceedings: Order Dismissing Petition of WWALS-Fl with Prejudice and Striking Portions of WWALS' Amended Petition for Hearing filed.
- PDF:
- Date: 09/03/2015
- Proceedings: Consolidated Environmental Resource Permit and Recommended Intent to Grant Suveregnty Submerged Lands Authorization filed.
Case Information
- Judge:
- BRAM D. E. CANTER
- Date Filed:
- 09/03/2015
- Date Assignment:
- 09/07/2015
- Last Docket Entry:
- 01/15/2016
- Location:
- Jasper, Florida
- District:
- Northern
- Agency:
- ADOPTED IN TOTO
Counsels
-
Sidney Conwell Bigham, Esquire
Address of Record -
Leighanne C. Boone, Esquire
Address of Record -
Richard S. Brightman, Esquire
Address of Record -
H. French Brown, Esquire
Address of Record -
Jack Chisolm, Esquire
Address of Record -
Gus McLachlan
Address of Record -
Deanna L Mericle
Address of Record -
John S. Quarterman, President
Address of Record -
Timothy Michael Riley, Esquire
Address of Record -
William Wohlsifer, Esquire
Address of Record -
H French Brown, Esquire
Address of Record -
Bill Wohlsifer, Esquire
Address of Record