Park Values & Hoh Road

Olympic National Park was planning to riprap the Hoh River once again last August--protecting Hoh Road to the detriment of salmonid habitat. The Park's second proposed solution involves moving the road further from the river, but still within the channel migration zone. This situation would likely require the same sort of riprap plan in the future. The Park did not present alternative road locations. Nor did it bother to determine what other listed species would be impacted if the road were to be moved within the flood plain. Removing standing and downed trees and forest duff would result in significant impact. The Park has an incentive to maintain the road due to the quarter million people making the drive to the Hoh Visitor Center annually. However this is not part of the Park's mandate as outlined in Director's Order #55: Interpreting the National Park Service Organic Act, dated Sept. 8, 2000. This directive provides us with a tool to obtain a more permanent, more benign solution of the road problem, and consequently, preservation of park values for future generations.
--E. Kailin & S. Koehler, Jan. 5, 2001

The following comments by Protect the Peninsula President, Eloise Kailin, addressing river encroachment on Hoh Road were sent to Olympic National Park.



January 5, 2001
Superintendent, Olympic National Park
600 East Park Avenue
Port Angeles, WA 98362

Dear Mr. Morris:

Thank you for the opportunity to comment on the Environmental Assessment on Hoh Road Reroute dated Dec. 7, 2000

It is a pleasure to acknowledge consideration of an alternative to armoring the present location of the road--a welcome initial step.

However, the EA of December 7, 2000 is insufficient in that it omits critical information, does not encompass all practicable alternatives, fails to protect a critical habitat for a threatened species, ignores the need to protect a floodplain, with a river migration zone, and violates the Director's Order #55 which became effective September 8th, 2000 to take no actions impairing park resources and values such as wildlife and native animals without specific congressional directive. We ask that a supplemental EA be prepared to address the omissions of this document.

MISSING INFORMATION;
(1) Location and sizes of the larger trees (diameters over 12 inches) (2) the detail of contours in the corridor between river and hillside and up the adjacent hillside.
(3) Alternative locations of the road were not presented: Could it be placed outside the frequently flooded area? Could it be placed further back from the river? Could it be routed to leave major trees in the space between the river and the road? The thought of course is to maximize natural soil stabilization with existing root systems in place, and to minimize need for further protections from natural river actions. How many of those trees and snags could be saved by use of an alternative route?
(4) Any concerned reviewer needs to know the relative costs entailed in these alternatives. The latter entail environmental as well as fiscal costs. Since repeated buttressing of the road has been necessary, and will continue to be necessary as long as the project lies in the floodplain, costs should be projected for the life of the project. On page 2, paragraph one of the EA is the statement that at MP 1.55 and MP 1.75 undermined sections of riverbank remain. Well, the literature on desirable river habitat describes overhanging riverbanks as beneficial for anadromous fish. Clearly the Park desires to eliminate this normal feature. The following paragraph describes the destination points for visitors-and omits the fact that anadromous fish have a genetically determined destination and are vitally dependent on a normally functioning riverine system to reach it. We submit that people have more options than the fish.
(5) What are the actual constraints of the wilderness designation: 200 feet from the road? Are boundary adjustments allowed? We have two senators now who are environmentally literate and a Congressional delegation which is appropriating funds to this state for salmonid recovery. Is it impossible to conceive that a boundary adjustment could be added to an appropriations bill to allow optimal placement of Hoh Road out of the floodplain? Why, in any event is the road not being relocated at least up to the boundary of wilderness?
(6) What is the past history of a) Hoh road closures and b) need for repeated bank protections in the two areas addressed in this EA? What were the costs?
(7) Please include the Biologic Opinion you requested in December, 2000 as part of the EA and extend the comment period on this EA to allow its inclusion in the knowledge base relating to this project. Professionalism would dictate that this will include a site visit to check on the "numerous moss, lichen, liverwort, algae and fungi species" known to occur in the general area. We note the statement on page 11: "no federal or state listed threatened or endangered plant species are known to occur in either area…"-but this is followed by: "..no systematic and detailed field surveys have been conducted"...Then the text tells us that we may well have here uncommon or locally rare species in small isolated populations which are of "increasing environmental concern". Page 12 admits that removal of ground cover may include removal of plant/fungal species that may be rare. Apparently the knowledge of amphibians (page 14) is equally vague and should be covered by site examination before submittal of the (a revised?) Biologic Opinion.

 

OTHER COMMENTS
We would hope at this stage of our understanding of needs of biota in the river that none of the trees proposed for removal for new road construction, including downed logs, would leave the floodplain either as direct man made removal in a clearing operation or due to accelerated removal when a river rise sweeps away stockpiled logs They are part of the nutrient system for instream biota , are feed stock for LWD contribution to the stream over often many years, as well as being critical to a wide variety of riparian wildlife. They should neither be exported nor allowed to be cut, placed on a gravel bar and likely carried away with flood waters.,

The EA refers to the River Reach Analysis and states: "The results of this analysis will recommend effective long-term strategies, such as Engineered Log Jams (ELJs) or rock barbs, for protection of the Hoh Road within the park." The author then goes on to exclude the River Reach Analysis from NEPA review despite indication of a resultant specific action to result from it in this EA. We think this is not allowable. I am told that the author did not mean to make such a statement, that the study is not available and the report date is uncertain. (verbal, Shirley Hall 1/4/01). We think that the Reach Analysis should be helpful and required as adjunct to this EA if indeed the road is to be located in the vulnerable flood plain. And we certainly wish to comment if ELJs or rock barbs are to be considered further.

We would also like assurance that rip rap will no longer be considered acceptable bank defense, and that the road is situated sufficiently above the river bottom so that this will not be necessary in the foreseeable future. If the existing road is washed out in the near future, please simply close the road until the construction can be done without damage to the natural resources of the park.

We suggest that long term strategies do indeed still need to be addressed. Stopgap measures might be closure of the road, location of new road construction above the flood plain on the hillside, construction of a one-way road for the limited distances involved and located back as far as possible from the river with curves as needed to avoid major trees, reduction in size of road and side borders, These should involve careful minimization of tree removal especially at milepost 1.55 (since some trees will remain at the second site between road and river)... When the overall Park Plan is written we suggest rethinking the entire matter of location of a visitor center for heavy use with some 5 miles of road all in a floodplain critical area..

ABOUT IMPAIRMENT OF PARK RESOURCES

Generalized knowledge of localized existence of rare and listed species in the area should lead to specific examination and a biologic opinion based on at least a site visit. This document in effect says:: "We didn't find anything, but then we didn't look either".. That is NOT resource protection..

On page 21 of the EA, floodplain protection is dismissed pursuant to Executive Order 11988, stating indeed that floodplains are to be accorded full protection except actions may be excepted from compliance for entrance, access, and internal roads to or within existing units of the system (not excepted for wetlands). "The Federal Register publication date of this is 5/28/80.

A more recent directive should take precedence: Director's Order #55: Interpreting the National Park Service Organic Act, dated Sept. 8, 2000. It states this directive "supersedes any conflicting instructions". At 3.3 :"The 'fundamental purpose' of the national park system, established by the Organic Act and reaffirmed by the General Authorities Act, as amended, begins with a mandate to conserve park resources and values. This mandate…applies all the time, with respect to all park resources and values, even when there is no risk that any park resources or values may be impaired. NPS managers must always seek ways to avoid, or to minimize to the greatest degree practicable, adverse impacts on park resources and values...'' 'The fundamental purpose of all parks also includes providing for the enjoyment of park resources and values by the people of the United States. The 'enjoyment' that is contemplated by the statute is the enjoyment of all the people of the United States, not just those who visit parks, and so includes enjoyment of park resources and values by all the people of the United States, including people who directly experience parks and those who appreciate them from afar. It also includes deriving benefit (including scientific knowledge) and inspiration from parks, as well as other forms of enjoyment…

"Congress, recognizing that the enjoyment by future generations of the national parks can be assured only if the superb quality of park resources and values is left unimpaired, has provided that when there is a conflict between conserving resources and values and providing for enjoyment of them, conservation is to be predominant."

"3.4 The prohibition on impairment. While Congress has given the Service the management discretion to allow certain impacts within parks, that discretion is limited by the statutory requirement (enforceable by the federal courts) that the Park Service must leave park resources and values unimpaired, unless a particular law directly and specifically provides otherwise. This, the cornerstone of the Organic Act, establishes the primary responsibility of the National Park Service….The General Authorities Act provides that exceptions to the impairment prohibition must be directly and specifically provided by Congress. These statutory exceptions must be found in the express terms of legislation, not inferred from it."

At 3.6 Park resources and values are defined. They do not relate to numbers of visitors, nor do they relate to collection of entry fees.

3.6 "The 'park resources and values' that are subject to the non-impairment standard include:
* the park's scenery, natural and historic objects, and wildlife, including, to the extent present in the park the ecological, biological and physical processes that created the park and continue to act upon it…and native plants and animals…

* Park resources and values do not include any attributes of a park whose conservation is not among the purposes for which a park was included in the national park system or is being managed. For example, the term generally does not include nonnative species or man-made structures that are not historic or prehistoric unless their conservation is a specific additional purpose for which an individual park was established."

Robert Stanton did a good job on this directive. What was the language denoting ONP a biosphere reserve?

Yours truly,

Eloise Kailin
President, PPF

CC WDFW, US Army CoE, USFWS, NMFS, WDFW, WDOE, Olympic Park Associates.

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