December 15, 2016
Honorable Kimberly D. Bose Secretary
Federal Energy Regulatory Commission
888 First Street, NE
Washington, DC 20426
Re: Northfield Mountain Pumped Storage Project No. 2485-063
Turners Falls Project No. 1889-081
Connecticut River Watershed Council Comments on FirstLight Study Reports filed October 14, 2016; Request for Study Modification to Require Compliance with the RSP.
Dear Secretary Bose,
The Connecticut River Watershed Council, Inc. (CRC) is a nonprofit citizen group established in 1952 to advocate for the protection, restoration, and sustainable use of the Connecticut River and its four-state watershed. We have been participating in the relicensing of the five hydropower facilities on the Connecticut River since the beginning of the process in late 2012. We have reviewed the set of Study Reports that were posted by FirstLight on October 14, 2016. CRC attended the study report meetings held on October 31 and November 1, 2016. Included as part of these comments, is the Peer-Review of Relicensing Study 3.1.2 Northfield Mountain / Turners Falls Operations Impact on Existing Erosion and Potential Bank Instability Study Report (October 2016), Princeton Hydro Bullet List of Major Points prepared by Princeton Hydro (attached) (“Peer Review”). Don Pugh assisted us on our comments on the fisheries studies. Below are our comments.
- Study Dispute and Request for Study Modifications
These comments and the attached Peer Review demonstrate that numerous, significant aspects of Study 3.1.2 and others were conducted: (1) in violation of the Revised Study Report (RSP) dated August 14, 2013 and approved with modifications from FERC on September 13, 2013 or February 20, 2014; (2) failed to rely on generally accepted scientific methods; and/or (3) otherwise reached conclusions that the science, data or evidence do not support. Accordingly, some conclusions are invalid. CRC requests that these studies be modified pursuant to 18 C.F.R. § 5.15(a) and (d) (1) to fully address these comments and the Peer Review. Portions of reports, as detailed in the comments below and the attached Peer Review, should be revised or redone. Where appropriate, FirstLight should modify the study conclusions based on the revisions.
Individually or together, violations of the RSP, the failure to adhere to generally accepted science, failing to ground properly conclusions in the data and evidence, providing invalid conclusions, all provide good cause to modify studies. The Peer Review details how each of the several faults in Study 3.1.2 provides good cause for modification. The following comments do the same. Indeed, these faults and failures are significant and skewed Study 3.1.2’s outcomes and conclusions, providing further good cause for modification. As detailed in the Peer Review and comments, study modification is required to assess properly the Projects’ actual impacts on water quality, habitat, and the environment.
- Comments
3.1.2 Northfield Mountain/Turners Falls Operations Impact on Existing Erosion and Potential Bank Instability
CRC hired consulting engineering firm Princeton Hydro (http://www.princetonhydro.com/) and Dr. Melinda Daniels of the Stroud Water Research Center to conduct a peer review of this study report. Their attached memo identified several areas where the study was not done according to generally accepted scientific practice or did not follow methodology described in the RSP.
The study concludes that banks erode during high flow events, and that project operations have a minimal impact. Unfortunately, the study was set up in several ways that would preclude a determination of project effects – the instigating effect of erosion of the bank at the water level was apparently not taken into consideration, no model scenario considered erosion without operational fluctuations, the river was segmented into four sections and project operations were not considered in all segments during the extrapolation phase, erosion impacts caused during flows that occur in the river over 90% of the time (and when the river is under the influence of hydropower peaking operations at three facilities) were mostly not evaluated, and study results were completely ignored and erroneous conclusions written. In addition, we are not clear what river velocities were used at the bank, and these are very important inputs to the study. The extrapolation methodology is fatally flawed and either should be modified or eliminated altogether.
In short, the study has significant flaws that preclude FirstLight’s conclusions. FirstLight asserts that natural high flows, boat waves, land use, and ice have impacts on shore erosion. But clearly, Project operations have an important impact on bank erosion. The questions remain: how much, and what to do about it? FirstLight is obligated to answer that question before proceeding, and to do so, FirstLight must redo this study.
CRC adopts and puts forth Princeton Hydro’s 24 recommendations. In summary, CRC requests that FirstLight modify study 3.1.2 as follows (numbers indicate comment # in Peer Review memo):
- More data should be provided to reviewers, including
- the BSTEM simulation results in higher resolution (#1),
- clarification of the use and inputs to the River2D model, as well as figures or data tables giving velocities modeled at the banks used or converted for use in BSTEM (#7),
- cross-section surveys with the water surface elevation range (#8),
- data to support reasoning that decreased water surface fluctuation increases the impact of waves and ice on the bank (#21)
- The entire report seems to ignore that erosion at the water line (the toe of the bank) can instigate erosion and contribute to larger failures that are washed away during high flow events. Given this could be an important effect of project operations, several changes to the study are necessary to gain a better understanding of project operations (#2, #5, #12, #20).
- The BSTEM analysis should be re-run to:
- determine if preclusion of vegetative growth due to operational-induced river level fluctuations contributes to erosion (#3),
- create new scenarios that would isolate project effects from the operation of Turners Falls and Vernon, and no project effect (#5, #15),
- assess primary causes of erosion in all reaches of the river (#6),
- use stage and discharge data from the HEC-RAS modeling near the Turners Falls dam (#11),
- Revise the extrapolation portion of the study in the following ways.
- Assess impacts of project operations throughout the entire impoundment rather than using the 4 river reaches (#11),
- incorporate 2D modeling into near-bank analysis (#11),
- thresholds for dominant and primary causes of erosion should be re-examined and agreed upon (#12),
- eliminate bias by conducting a random review by a third-party reviewer (#13, #14),
- avoid direct comparison of BSTEM analysis results with land use analysis (#16),
- Revise conclusions to reflect observations or results (#17, 19, #20, #22, #23)
- Improve groundwater analysis to better understand how movement of groundwater may weaken the bank materials (#9)
- Improve investigation of ice impacts due to operational water surface fluctuations (#24);
- Revise definition of lower and upper bank to be consistent with general scientific practice (#4, #15).
- Use historical past aerial photos to compare against current aerial photos as required by FERC in the Study Plan Determination (#18)
- Potentially extrapolate erosion analysis downstream of Vernon to downstream of Turners Falls operations to provide consistency (#10).
These modifications are required to comply with the RSP, and to assure scientific integrity and valid conclusions. These are important departures from standards and requirements mandated by the RSP, and therefore provide good cause for these modifications.
CRC has the following additional comments based on our review:
Historic bank analysis
The Peer Review memo points out that the FERC Study Plan Determination required a historic geomorphic assessment. Section 2.3.1 of Volume II of the Study 3.1.2 Report explains many limitations to comparing aerial photography over time, and in the end concludes that it can’t be done in a meaningful way. Inexplicably, the end of the first paragraph on page 2-16 says, “The results of georeferencing efforts conducted by FirstLight as part of this study typically yielded root-mean-squared (RMS) values less than ±15 ft.” What this analysis is based on is never explained.
We note that the Field, 2007 Report CRC Recommendation: There are several possible ways FirstLight could have analyzed bank movement over time. What they have produced in this report is inadequate and should be re-done. River segments The Peer Review memo points out several flaws with FirstLight’s use of the Energy Grade Line to parse the river into 4 segments and then use those sections in the extrapolation process. We have also found two instances, described below, in which other relicensing reports describe river fluctuations that influence the river outside of the river segment that FirstLight created: CRC recommendation: We re-iterate the Peer Review recommendation to look at operational effects in the entire reach, and we do not concur with page iii of Volume I of Study 3.1.2 Report which states that, “The results of the hydraulic and BSTEM models indicated that hydropower operations can only potentially impact erosion processes within the hydraulic reach where the project is located due to the varying hydraulic characteristics of the TFI.” River bank Transects On November 23, 2016, FirstLight filed an Answer to CRC’s November 21, 2016 motion to intervene and comments on FirstLight’s application for a temporary license amendment. In the Answer (page 4), FirstLight stated, “CRC’s crude analysis reflects a gross misunderstanding of how field surveying is actually performed. Even when using the same techniques, protocol, and equipment, differing results can occur—particularly when measurements are taken from opposite banks of the river when many locations cannot have permanent ground markers. When plotted, a difference of one foot—or even a few inches—in location from one year to the next can erroneously show dramatic movement in banks. Nonetheless, FirstLight’s survey techniques have improved significantly with advances in technology and the results not only show remarkable consistency, but also verify bank stability.” In this statement, FirstLight now reveals that there are some transects that do not have permanent ground markers, and are surveyed from the bank across the river. They say that the survey techniques have improved, but that sometimes a difference of a few inches can show dramatic movement in banks. CRC and members of the Connecticut River Streambank Erosion Committee (CRSEC) have long requested that methods to assess banks be written down in a Quality Assurance Project Plan (QAPP). The QAPP submitted as part of the RSP to Study 3.1.1 did not have a protocol for bank transect surveys. Section 4.2.4 included two sentences on methods: “Transect surveys typically entailed surveying the complete cross-section starting at one riverbank, across the channel bed, and up the other riverbank. Permanent markers are typically placed on both banks denoting the start/end points of the cross-section survey to allow for direct comparison of past and future surveys.” We note that the Full River Reconnaissance (FRR) conducted in 2004 by New England Environmental showed diagrams of cross-sections with the location of bank pins indicated in each profile. FirstLight’s November 23, 2016 Answer on page 4-5 indicates that some of the transect profiles in Appendix E to Study 3.1.2 were inadvertently flipped, but that the data are correct and FirstLight will file an errata report, as needed. To date, no errata report has been filed for this study. The Field 2007 report Section 7.3a describes rates of erosion at long term cross-sections. It states that the highest peak discharge since 1990 at the Montague gauge was 1998, a year in which the greatest one-year change in bank position did not occur at any of the cross sections. It also said that the most significant period of bank recession for several cross sections occurred in the early 1990’s with average rates of recession ranging between 1.7 and 4.5 ft/year, but that no flood discharges were recorded during this period. These observations seem to be at odds with the results of Study 3.1.2 that reveal erosion only happens during high flow events. CRC recommendations: Hydraulic Modeling and Sheer Stresses The Field 2007 report used two-dimensional numerical hydraulic modeling using bathymetric data. That report stated in Section 6.0 that, “While erosion does occur where high flow velocities and sheer stresses approach near the bank (Figure 17), significant amounts of erosion also occur where flow velocities near the bank are low (Figure 18 and Appendix 4).” Study 3.1.2 comes to the opposite conclusion, that erosion occurs only during high flow events. However, we aren’t sure what velocities were used in Study 3.1.2. Section 4.2.3 of the Study 3.1.2 Report states that two hydraulic models were utilized for this effort – HEC-RAS model developed as part of the Study No. 3.2.2 Hydraulic Study and a River2D model created specifically for the Causation Study. Although we have reviewed Study 3.2.2, the Hydraulic Study, we have not seen any of the background data that would tell us what kind of river velocities are experienced at the banks during any flow range or operational parameter. As for the River2D model, it appears from the description that the River2D model for this study may be different than the 2-D model developed for Study 3.3.9. This should be clarified, particularly with regard to comments that USFWS submitted regarding the roughness co-efficient in this study and other technical comments. Sheer stresses at flows below 30,000 cfs apparently were not assessed under the RIVER2D model constructed for Study 3.1.2. Pumping and generating with 3 or 4 units apparently was not assessed either, see page 5-29. It is unclear what sheer stress numbers were used in BSTEM for lower flows. If no modeling was done for flows under 30,000 cfs, then it seems like a foregone conclusion that no impacts would be seen if they weren’t even assessed. The pumping data in Study Report 3.1.2 Volume II Table 5.1.3.1-2 for inflow >30,000 cfs does not quite match what was listed in the September 2016 Alden Report for Study 3.1.3. Also, the pumping velocity for 1 and 2 pumps does not match what was listed in the Alden Report. Please see Table 7 in the September 2016 Alden Report and accompanying text for flow and pump use scenarios. Study 3.1.2 Volume II Section 5.5.1 shows a few velocity maps, but it appears some areas with velocity vectors were overlain upland areas, so it is not clear what velocities are estimated for the river in contact with the bank. See also the maps on the next two pages copied from Appendix B of Study Report 3.3.9 – Scenario 36 Map 3 (river flow 40,100 cfs with 4 units generating) compared to Scenario 12 Map 3 (river flow 4,900 cfs, 4 units generating). Though one would need to zoom in, a look at these maps hint that there may be areas where bank velocities are higher at the bank under the lower flow scenario (4,900 cfs) than the higher flow scenario. We could find no evidence in Study 3.1.2 of that dynamic being considered. Red circles in the next two pages highlight areas that should be compared to look at the higher flow (40,000 cfs) vs. a lower flow (4,900 cfs) under maximum generation of 20,000 cfs. Note the higher velocities near the banks under the lower flow scenario. Velocities of water in contact with the bank are not known. See also our comments on page 15 later in this letter on Study 3.1.3. Table 7 in the September 2016 Alden report indicates significant uptake of sediments to the upper reservoir during low flows over a given year. This seems to undermine the hypothesis in Study 3.1.2 that erosion only occurs during naturally high flows. CRC recommendation: FirstLight should explain in detail how the RIVER2D model was used. If flows less than 30,000 cfs were indeed not modeled, this appears to be inconsistent with the RSP and FirstLight should explain the rationale. FirstLight should provide detailed data on hydraulic modeling results and sheer stresses at each of the transects to allow for a complete review. Cyclical process of erosion Section 7.4 of the Field 2007 report described a cyclic process of erosion, started by the creation of a notch or undercut at the base of the bank by the individual removal of particles. The notch grows taller and steeper, and eventually there will be a topple or slide, and the mass of sediment can be washes away from the bank by water currents. When the report came out in 2007, this description made sense to CRC and the members of CRSEC, because it described a condition we saw happening out on the river. This process appears to have been lost in the complexity of Study 3.1.2. Study 3.1.1 Appendix K November 2013 photos were published online, and during a quick look through those photos, we immediately found two examples in which erosion at the toe of the slope appears to be creating other erosion above it. The photo below is a cropped version of DSC_0764.jpg from Study 3.1.1 Appendix K photos from November 2013. The location of this photo is river left across from Bennett Brook. The photo below is a cropped version of DSC_0997.jpg from Study 3.1.1 Appendix K photos from November 2013. The location of this photo is river right downstream of Kidds Island. CRC recommendation: Study 3.1.2 has ignored a key process of erosion. See the Peer Review memo for specific ways to remedy this so that the study can meet the goals stated in the RSP. Boat Wave Analysis Section 4.2.8 provides many pages of detail on the input and results of the boat wave analysis. CRC did not have enough time to review this section in any detail. However, for the purposes of Study 3.6.4, Assessment of Day Use and Overnight Facilities Associated with Non-Motorized Boats, as well as Study 3.6.1 Recreation Use/User Contact Survey, we would like to make note of Table 4.2.8.5-1, which gives results for total numbers of boats (power boats only, or all types?) counted in a season. The data have been copied below. Also Tables 4.2.8.5-3 and -4 give average numbers each day of the week for all weather and for sunny days only. Table 4.2.8.5-1: Total Measured Number of Boats Progress Reports Lacking We note that the FERC Determination on the Initial Study Report (ISR) dated January 22, 2015 required FirstLight to provide stakeholders updates after each study task was completed. Since that time, stakeholders received one or two updates in 2015 in addition to the Updated Study Report (USR) filed in September 2015. No progress reports have been provided to stakeholders since the September 2015 USR. 3.1.3 Northfield Mountain Project Sediment Management Plan In May of 2010, the upper reservoir of Northfield Mountain was drained for routine dredging. Draining the reservoir caused sediments to become entrained in the project’s works, and the pumped storage project ended up being off line for five months while the company cleaned out the sediment. During the summer of 2010, the company began dumping excavated sediment into the Connecticut River until the EPA issued a cease and desist order. EPA Clean Water Act Administrative Order Docket No. 10-016 required that FirstLight, “shall submit a report identifying the measures that it will adopt to prevent discharges of sediments associated with draining the pumped-storage reservoir in the future and a schedule for their implementation.” FERC letters dated August 10, 2010 and January 20, 2011 requested, “a plan and/or procedures to avoid or minimize the entrainment of sediment into the project’s works during similar drawdowns in the future.” Fulfilling the EPA and FERC requirements were essentially the purpose of this study, but the study was incorporated as a relicensing study and the RSP stated that the study purpose “is to better understand sediment transport and dynamics between the Connecituc River and Upper Reservoir. After a few years of monitoring SSC and conducting annual bathymetric surveys in the Upper Reservior, FirstLight will evaluate management meausures to avoid or minimize the entrainment of silt into the Project works and Connecticut River during future Upper Reservoir drawdowns.” The study involved the following elements described below. Upper reservoir bathymetry surveys and sediment accumulation FirstLight has chosen to conduct annual bathymetry studies to understand the accumulation rate of sediment in the upper reservoir. The study concludes on page 4-1 that the accumulation rate of sediment in the upper reservoir, based on two different methods, is ~4,000 to ~8,000 cubic yards/year. In Appendix C, Alden Research Laboratory used the bathymetric studies performed in 2010, 2011, 2012, and 2013 to estimate an average of 17,600 cubic yards of “sediment uptake to the Deposition Zone” (page 36 of September, 2016 Alden Report). Alden used the higher accumulation rate to calibrate a FLOW-3D model. If FirstLight thought the accumulation rate was too high, it is not apparent from the study. FirstLight should explain the order of magnitude discrepancy between its sediment accumulation rate and Alden’s. Suspended Sediment Monitoring Seasonal patterns and trends observed in relation to flow The study concludes that suspended sediment concentrations (SSC) in the Connecticut River were relatively low and without an apparent trend when flows from Vernon Dam were below 12,000 cfs; increase between 12,000-35,000 cfs, and were significantly higher when flows exceeded 35,000 cfs. CRC has examined the Figures and graphs in the appendices. What we have observed is that during spring high flows (above 35,000 cfs), SSC levels increase above 40 mg/L. In the spring, flows between 20,000-35,000 cfs experience low SSC levels (generally below 20 mg/L). However, in the summer and fall, SSC levels above 20 mg/L can be triggered by moderate high flow events in the range of 12,000- 30,000 cfs. We do not concur with the three flow thresholds identified in the report, therefore, and think the report should note the possibility of seasonal thresholds. Patterns and trends observed in relation to flow, Vernon operations, and Project operating conditions. Figure 4.2.1-15 shows box plots indicating that Northfield Mountain tailrace samples analyzed during pumping had higher SSC than during generating. This fits with the hypothesis that sediment in the river is deposited in the Northfield Mountain upper reservoir. What wasn’t investigated in detail is whether pumping concentrations exceeded river concentrations. Are there situations where pump concentrations are higher than ambient river sediment? During April 2014, during high flows (40-70,000 cfs) – no. See graph copied below from Appendix D (p. 437 in pdf file). When high spring flows stabilized and declined, there were hints that SSC levels when pumping (yellow and gray) were higher than the ambient river SSC levels (blue dots). See above and below (copied from Appendix D (pdf page 438). CRC doesn’t have an explanation for a mechanism that would cause higher SSC levels when pumping than is in ambient river levels, other than erosion caused during pumping, but it may be worth additional thought. Below shows a scenario (graph copied from Appendix D, pdf page 430) in September 2013 when flows from Vernon were stable and elevated (~14,000 cfs) for about three days, and the SSC levels at the Northfield tailrace rose and fell with the Northfield pumping and generating cycles. Other than Table 4.2.2-3, there is no analysis of SSC levels compared to the number of units pumping and generating. Better analysis is needed, showing 1-4 units pumping (only 2 units pumping is shown for a single date), and 1-4 units generating (1-3 units are shown, each on a single date) and concentrations when idle (only a single date is shown). The analysis should include multiple dates, separated by season. Sediment Management Techniques Explored Physical change to upper reservoir intake channel and operational changes Alden Research Laboratory was contracted by FirstLight to create a 2-D sedimentation model for the upper reservoir and to evaluate sediment management alternatives. Their work was summarized in a report called “Engineering Studies of Sedimentation at the Northfield Mountain Project” and dated May, 2014 (“2014 Alden Report”). It was included as an appendix the December 2014 Sediment Management Plan report. The 2014 Alden Report compared an existing conditions model to three sediment management strategies. One management strategy was to narrow the intake channel of the upper reservoir, which would increase the velocity of water exiting the upper reservoir. The two other strategies involved lowering the minimum upper reservoir level to 928 or 920 ft, to flush out some of the sediment build-up. All of these options led to a 4-5% reduction in sediment accumulation in the reservoir and intake area compared to current operating procedures. A sensitivity analysis was performed to model drawdowns to 901 feet to mobilize small annual amounts of sediment. The 2014 Alden Report concluded that an adaptive management plan could be developed to draw down the reservoir level for controlled release of sediment on a periodic basis. Sediment exclusion structure in Connecticut River intake/tailwater Alden Research Laboratory was contracted by FirstLight to create a 3-dimensional (3-D) Computational Fluid Dynamic (CFD) model of the Connecticut River Intake/Tailwater to better understand the mobilization of Connecticut River sediment determine if physical modifications to the intake/tailwater could help to reduce future sediment accumulation in the Upper Reservoir t. Their work was summarized in a report called “Engineering Studies of Sediment Uptake at the Northfield Mountain Connecticut River Intake/Tailwater” and dated September 12, 2016 (“September 2016 Alden Report”). It was included in Appendix C to Study 3.1.3. Table 7 in the September 2016 Alden Report summarizes the model runs, looking at sediment transported during five different representative river flow levels (5,000; 15,000; 25,000; 35,000; and 50,000 cfs), representative sediment concentrations for each flow, scenarios for 1-4 pumps, and weighted against actual operational patterns with these flows. It shows an uptake of 24,155 tons of sediment material transported into the upper reservoir over the course of a year. If you add up the sediment transported under all pumping scenarios for the three lowest flows (approximately 85% of the year, according to the flow duration curve), 13,719 tons of sediment is transported to the upper reservoir during these times of year, or 56.8% of all the sediment in the year. The September 2016 Alden Report concluded that plant operations and pumping rates have an influence on the amount of sediment uptake to the Upper Reservoir. The model runs showed consistently higher amounts of sediment uptake when 3 and 4 pumps were running. For example, when the river flow was 5,000 cfs and 4 pumps were running, this transported 2,878 tons of material, which was 12% of the annual sediment transport to the upper reservoir. In fact, this scenario estimated more sediment transport than any flow scenario using fewer pumps, except for 3 pumps at 50,000 cfs, The September 2016 Alden Report concluded that a sediment exclusion structure could be expected to decrease sediment mobilization to the Upper Reservoir by 10-20%. Physical model testing of exclusion structure Alden Research Laboratory was contracted by FirstLight, based on a request for proposals in 2015, to conduct field data collection and create a scaled physical model of the Connecticut River Intake/Tailwater with the “main objective” to design and test proposed new civil works to be constructed at the existing Connecticut River intake structure in order to reduce the intake of sediment during the pumping cycle of the plant. The model upstream end is 3.2 km upstream of the Northfield Mountain intake. The downstream model boundary is 0.8 km from the intake, for a total length of 4.0 km. Their work was summarized in a report called “Connecticut River Physical Modeling Project” and dated October 12, 2016 (“October 2016 Alden Report”). It was included in Appendix C to Study 3.1.3. In Section 2.5.3 of the October 2016 Alden Report, it states, “Based on discussions with GDF Suez the target model sediment concentrations shown in Figure 2-12 were identified. At a river flow of 70,000 cfs, a suspended sediment concentration of about 400 mg/L was targeted.” As the report points out, a flow of 70,000 cfs has a recurrence interval of 5-10 years (page 7) and the target suspended sediment concentration of 400 mg/L is significantly higher than observed values in the river (page 12). CRC is unclear why so much effort was put into modeling a high flow event that occurs relatively rarely, and at a concentration not representative of typical conditions. The motive was not stated. Most of the physical model test runs were based on 70,000 cfs. When they ran the test at 40,000 cfs, they used an SSC concentration much lower than observed results. One wonders what the other objectives of the project were. Section 6.3 of the October 2016 report indicates that the contribution of sediment to the reservoir during periods of low flow relative to periods of high river flow remains unknown. Based on the physical model results, Alden recommended further analysis to estimate the amount of sediment transported to the reservoir during periods of low river flow. It also recommended exploring the constructability of a moving weir and to conduct the physical model tests during generation. The Background section in the October 2016 Alden Report states, “The upper reservoir has experienced chronic sediment accumulation; however, the rate of accumulation appears to have increased in part due to an operational change in the reservoir management… Historically, the reservoir level varied between a high of about 1,000 feet and a low of about 920 feet. More recently the reservoir low water level was increased to 938 feet.” CRC is curious about this statement, since the original license mentioned a low of 938 and this, to our knowledge, has been the license limit of lower reservoir level for the history of the project, other than during temporary amendments. Pilot Dredging of Upper Reservoir FirstLight conducted a pilot dredging project between April and November of 2015, during which approximately 45,000 cubic yards of sediment were successfully removed by deep water dredging. The study indicates that hydraulic dredging was found to be a viable sediment management measure. Proposed Sediment Management Measures After six years of study, FirstLight’s plan is the following: Absence of protocols CRC was surprised that protocols were not included in the final report. This is what EPA and FERC requested in 2010. CRC recommendation: CRC recommends FirstLight prepare an addendum to Study 3.1.3 that contains the following details: 3.3.1 Instream Flow Study in Bypass Reach and below Cabot CRC has been participating in meetings related to this study, and we will be reviewing subsequent filings. At a meeting held on December 2, 2016, FirstLight and stakeholders agreed on additional runs and mapping of currently completed runs. 3.3.2 Evaluate Upstream and Downstream Passage of Adult American Shad Study 3.3.2 is an important study, with the goal of the study, “to identify the effects of the Turners Falls and Northfield Mountain Projects on adult shad migration.” There are 9 study objectives listed in the RSP, aimed at understanding upstream and downstream migration delays, route selection and behavior, passage rates, and effectiveness of the existing fish ladders. Don Pugh wrote a letter to FirstLight dated March 25, 2016 that summarized all the telemetry information he and other stakeholders wished to see in the report. Don’s letter is attached at the end of this letter. Much of that information was not in the report. In addition, clarification and additional data are necessary to understand whether or not FirstLight followed the RSP and whether or not the study objectives were met. Moreover, stakeholders want to have a good understanding of the results so as to enter into future upcoming license discussions. CRC is recommending that FirstLight revise and re-submit the study report for Study 3.3.2, so that stakeholders can adequately review the methods, results, and conclusions of this important study. We prefer a revised report to an addendum to avoid confusion as to what information is in what report. General comments: Specific comments: 3.2 Study Design and Methods Table 4.2-3 4.4 Mobile Tracking and Evaluation of Mortality 4.5 Data Reduction 4.6.1 Holyoke to Montague 4.6.2 Montague Spoke 4.6.3 Cabot Ladder Attraction 4.6.5 Bypass Reach 4.6.6 Spillway ladder attraction 4.6.7 Spillway Ladder Efficiency 4.6.8 Upstream Migration through the Canal 4.6.9 Gatehouse Ladder 4.6.10 Upstream Migration through the TFI Impoundment 4.6.11 Downstream Migration through the TFI Impoundment 31 4.6.12 Downstream Migratory Route Choice at Turners Falls Dam 4.6.13 Downstream Migration through the Canal Discussion and Conclusions Upstream migration Summary 3.3.3 Evaluate Downstream Passage of Juvenile American Shad (Interim Report) General comments: Problems associated with milling at the hydroacoustic installations other than Cabot, and the erratic swimming and poor survival of radio tagged fish, negate the results of this study. As such, no information on entrainment at Northfield or route choice of juvenile shad at the Turners Falls dam or in the canal is available. FirstLight made a good faith effort to re-do the telemetry portion of this study in the fall of 2016, but river conditions (low flow due to a serious drought all summer) would have made any results of little value, and the study was not done. CRC recommends that the study be repeated in 2017. Our additional comments on specific parts of the Study Report follow. 4.1 Run Timing, Duration, and Magnitude (Hydroacoustics) 4.2.2 Routes of Passage Discussion 3.3.6 Addendum: Impact of Project Operations on Shad Spawning, Spawning Habitat and Egg Deposition in the Area of the Northfield Mountain and Turners Falls Projects We spent some time comparing Table 1 of the Addendum (2005-2009) with Table 4.1-1 of the Study Report (2010-2014) side by side. Each shows the discharge changes/generation changes over 5 years for the hours of 8 PM to 2 AM for May and June. For 2010-2014, the total number of decreases = 130 and total number of increases = 216. During this 5-year period, there were more increases in generation than decreases. For 2005-2009, the total number of decreases = 483 and total number of increases = 242. For this earlier 5-year period, there were many more decreases in generation than increases. For 2010-2014, 33% of changes were increases of 0-10 MW, followed by 22% decreases of 0-10 MW and 20% increases of 10-20 MW. For 2005-2009, 46.3% of changes were decreases of 0-10 MW, followed by 19% increases of 0-10MW and 15.7% decreases of 10-20 MW. Generation change decreases in the highest category went from happening almost never (only 1 time total from 2005-2008) to something happening at least 1 time per “season” up to 5 times/season. It seems that operations in one 5-year period, 2005-2009, was quite different than the following 5-year period, 2010-2014. What that means for spawning, or any other study, we don’t know. We also are not sure what this means for future operations or for using 2002 as a “typical” year in other studies, since it we don’t have information for 2002 and it appears that operations have not stayed similar over the past 10 or so years. 3.3.7 Fish Entrainment and Turbine Passage Mortality Study The last paragraph of the Executive Summary states that, “Operation of the Northfield Mountain Project may impact fishes due to entrainment. However, pumping operations generally only occur over a few hours between midnight and 6:00 a.m., thereby limiting impacts to a 6 hour period each night.” No further information is included in the body of the report regarding this statement. CRC does not have access to operational data, other than the data filed with FERC during temporary amendment periods during the winter. That data show that pumping often lasts until 7 AM, 8 AM, or 9 AM in the morning during the winter months. Also, in March of 2016, the data show a few afternoons when pumping occurred. We have no way of verifying whether or not that is true during the later spring and summer; however, we question the validity of FirstLight’s statement until more information is provided. Moreover, there are no restrictions on times of day that the facility can pump or generate. CRC offers the following additional comments on the study report: 3.3.13 Impacts of the Turners Falls Project and Northfield Mountain Project on Littoral Zone Fish Habitat and Spawning Habitat The RSP to this study listed one of the specific objectives as, “delineate, qualitatively describe…, and map shallow water habitat types.” The report shows a map with dots for nesting spots identified, but no delineation of habitat types. The RSP had many maps showing the study area for this study (Figures 3.3.14-1, Pages 1 through 23[we think the numbering should have been 3.3.15-1]). It appears that the entire study area could not have been covered in the two field days devoted to this effort in May and then June. Task 2 of the RSP indicates that FirstLight was supposed to observe tributariess identified in Study 3.3.17 as accessible during spawning seasons. The report says they looked at “major” tributaries and list a few by example, but it is unclear if Study 3.3.17 was consulted in any way. The second paragraph of Section 3.1 in the Study Report said the littoral zone was considered to be the area extending from the edge of the water line at the shore of the time of survey to 6 ft in depth. Relying on 6 ft of water during the field visit is a little odd, since water level fluctuated by 2 ft or so during a field day. Also, the RSP maps show some potential littoral areas in the middle of the river. Did the field crew confirm that those areas were not good candidates? The raw data sheets in Appendix A only contain sites 001-006 for the early spring surveys. Sites 8-17 were not included. The literature review section 4.1 is very paltry. Did the Fish Assemblage Study 3.3.11 results have any bearing? All the figures showing the sites and the unsteady and steady state flows (Figures 4.3.2-1 through 15) indicates that many sites are very susceptible flow fluctuations. This seems to be glossed over in the text. We believe that the flow duration curves for the Turners Falls dam from the PAD dated October 30, 2012 (Figure 4.3.1.2-19 from the PAD copied below) are essential to the analysis of the “steady state” graphs provided in this report. In this study, steady state is a simulated condition under a Turners Falls elevation of 176, 181.3, and 185 ft. For example, in Figure 4.3.2-3, Site 10, if you brought the Turners Falls pool level down to 176 ft, you would need a flow of 25,000 cfs just to have the water level match that of the spawning habitat. Looking at the flow duration curve, that only happens 30% of the time in May. That seems like a high impact, if the facility operated under its licensed conditions. 3.3.15 Assessment of Adult Sea Lamprey Spawning within the Turners Falls Project and Northfield Mountain Project CRC offers the following comments on the study report: 3.3.16 Habitat Assessment, Surveys and Modeling of Suitable Habitat for State-Listed Mussel Species in the Connecticut River below Cabot Station CRC did not review this study report in detail, but we would like to point out that having the consultant who was hired to prepare the mussel report (Ethan Nedeau of Biodrawversity) also sit on the Delphi panel compromises the objectivity of the results. 3.6.6 Assessment of Effects of Project Operation on Recreation and Land Use This study used results from multiple other relicensing studies to analyze the effects of project operation on project recreation facilities and land use. The study did not assess the effects of project operation on the ability to recreate in certain areas. For example, the current minimum flows in the bypass reach prevent the use of boats in that stretch, but that kind of effect was not assessed in this study. Overall, the study preparers expended little effort to produce this report and the data involves little meaningful analysis. Below are our comments. 4.2.2 Pauchaug Boat Launch. As we discussed at the Study Report meeting held on November 1, 2016, the presentation of water level data in this report leaves much to be desired. The analysis involves median monthly water elevations and water surface elevation curves for each summer month. What is most important is the daily fluctuation below a minimum level. What happens in the middle of the night when people aren’t boating is irrelevant. CRC looked at the actual logger data provided as part of Relicensing Study 3.2.2 in Excel format. The report states that 3 feet of water at the end of the boat ramp is necessary for launching and/or retrieving boats on trailers, so a water surface elevation (WSEL) of 181 ft is necessary for the boat ramp to be usable for power boats. From this, we see that it’s not unusual at all for river levels to drop below the 181 ft level during the night-time early morning hours, making it difficult to launch boats until mid morning or noon, or even later. In Sept. of 2014, there were even a couple of stretches where the river level was too low for the better part of two entire days. This happened twice. September of 2014 was more typical of dry summer conditions than the rest of the summer, which was on the wet side. See graphs below. River elevations from FirstLight logger located downstream Pauchaug August 2014 Same data, but shorter time span showing 8/8 to 8/13 in 2014. River elevations from FirstLight logger located downstream Pauchaug September 2014 Same data, shorter time span showing 9/1 to 9/4 in 2014, showing typical dry weather summer flow conditions. Note that river elevations tend to dip below 181 ft around 3:00 AM and then rise above 181 between noon and 3:00 PM. This would tend to make the river unusable to motor boats all morning into the early afternoon on a typical summer day. 4.2.3 Munn’s Ferry Boat Camping. The results from Study 3.3.9, showing conditions when the river flows upstream and strange eddies, do not seem to have been considered. 4.2.4 Boat Tour and Riverview Picnic Area. This section evaluated the use of power boats at this location only. Study Report 3.6.4 listed the Riverview Picnic Area as a formal river access site. If that is what FirstLight considers this site to be, and dismisses the need for additional water trail access points, then Study 3.6.6 needs to assess project effects for paddlers in this location, including operational impacts that cause the river to flow upstream as shown in Study 3.3.9. 4.2.5 Cabot Camp Access Area. Study Report 3.6.4 listed the Cabot Camp Access Area as a formal river access site. If that is what FirstLight considers this site to be, and dismisses the need for additional water trail access points, then Study 3.6.6 needs to assess project effects for paddlers in this location, including operational impacts that cause the river to flow upstream, or create eddies, as shown in Study 3.3.9. 4.2.10 Poplar Street Access Site and 4.2.11 Sunderland Bridge Boat Launch. Our comment from Study 3.3.2 was that based on the August 11-16, 2012 graph downstream of the Turners Falls dam (Appendix C of Study 3.3.2), peaking flows out of the Cabot units can result in 5-ft sub-daily fluctuations in Montague and 4-foot subdaily fluctuations at the Sunderland Bridge in the middle of the summer. Flows rapidly decrease at midnight until mid morning or mid day, then steadily increase during the latter half of the day. At Poplar Street, our experience and anecdotal stories indicate that higher water levels can make launching a boat more dangerous and difficult. As for the Sunderland Boat launch, the graphs provided do not tell us the full story, and no user surveys were conducted in that area, despite CRC’s request during the review of the RSP (see RSP page 3-352). The whole point of conducting these expensive studies is to better inform all involved in the relicensing effort so that we understand the project effects. When we are given flow duration curves, that obscure the true issue of the subdaily fluctuations of the river, we are little better off than we were at the beginning of this process. We knew then that river users complain about low river levels in the morning at Pauchaug and at the Barton Cove state boat ramps, for example. This study has done little more to add to the understanding. We appreciate the opportunity to provide comments on the studies submitted on October, 2016. Sincerely, River Steward ATTACHMENTS Princeton Hydro peer review memorandum Letter from Don Pugh to James Donahue of FirstLight dated March 25, 2016, regarding shad telemetry data presentation for Study 3.3.2 [1] “Fluvial Geomorphology Study of the Turners Falls Pool on the Connecticut River Between Turners Falls, MA and Vernon, VT. Prepared for Northfield Mountain Pumped Storage Project. Prepared by Field Geology Services, Farmington, ME. November, 2007.
Undercutting (yellow) and slumping (red)
Note undercutting at the water line and leaning trees with slumping bank above.
Wave Logger
Location
Dates
Number of Boats
WLOG-1
Schell Bridge
May 21 – Aug 28
2,133
WLOG-2
Rt. 10 Bridge
May 21 – Sep 14
2,650
WLOG-3
French King Bridge
May 21 – Sep 14
7,365
WLOG-4
French King Bridge
May 21 – Sep 14
7,263
Andrea Donlon