Comments
on Jefferson County SMP Update
The SMA policy section (RCW
90.58.20) only requires that a SMP “minimize, insofar
as practical, any resultant damage to the ecology and environment of the
shoreline area”. Later on, in section 90.58.140, it is stated that
projects with “significant irreversible damage to the environment” not be
approved. So the Planning Commission recommended uses of the terminology
“significant adverse effect” in Articles 7 & 8 are appropriate and the DCD
recommended deletion of the word “significant” should have been rejected.
Also, there is absolutely
nothing in RCW 90.58 that suggests that a “No Net Loss” policy is appropriate.
The “No Net Loss” policy appears out of the blue and permeates the regulations
and guidelines (WAC 173-26) spawned by the Department of Ecology and flows into
the proposed SMP. That appears to be inappropriate and probably illegal.
RCW 90.58.100
requires that the contents of a SMP must be developed using a “systematic
interdisciplinary approach” which includes economics. The costs caused by this SMP must be evaluated verses
the potential environmental benefits.
Nowhere in this process has anyone been required to quantify the cost of
these regulations to the county and to the property owners.
Going to the “Inventory and
Characterization” report generated with DoE funds during the Jefferson County
SMP development process, one would hope to find the rational/analysis that led
to the recommended Shoreline Designations. We find that the report contains
about 200 pages devoted to “characterization” descriptions in general and some
application of these characterizations to individual shoreline spans or
“reaches”. However, we find no analysis, even though one of the sections is
titled “REACH INVENTORY AND ANALYSES”, nor any
rational for the designations proscribed in this report. Further, the DCD
representative handling the SMP process stated that the “Experts” developing the
draft SMP “look at aerial photos to determine the appropriate
characterizations”. Therefore, it appears all designations are suspect and in
particular the 400% increase in Natural Designations. Finally, the so called
science referenced by this report and the DCD is mostly inapplicable to
Jefferson County and has not had serious peer review. And finally, there is no
indication that the current Jefferson County regulations are not working.
Therefore it
seems to me that the DoE must reject this proposed SMP and drop the requirement
that No Net Loss be a criteria. Also DoE should demand a cost benefit analysis and an
evaluation the effectiveness of the current Jefferson County regulations before
any changes are made to the Jefferson County shoreline
regulations.