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HomeMy WebLinkAbout- Plans - 1 HIGH STREET 7/9/2020 � f ��/���j��l�G�%���� �� ,( ////�Oi�//��i� � I', i�`�/ � it// ��� � �I rM i ir'�ll���irf i��� i i � "' �d1��� '"�i�I I II i Ji � 1 � ���� �R�"��' la a V � �� /�f l��� M�r'� l J � � /� X�i l a, �I �^ I°ii °� A1,,� I �^' � 1 r^ i{Ippm.P+ 'u' w'S �� I il��� 4�;.. „1/ ^Is `�" i i" �I l 1 I j fl I � d �; �, / / ���j � 6 j��;� ���ll/l�j';,������ ,u �?/�����'/�//'�' � / i � � �,, y, y�i//�//��'����' �m ��l�J��f���f �� ` /��%` �,. /,� t r� ��,,a „% � a�;�, 1 �� ,,� ���� ��,� �, � � e � 1�., y �a ?,, 9i (✓ ��,. ^;n, �/'„; ,l� . ( � � ' ^ D EROSA CONSULTING, INC. 167main SUeet nu Box rm July 9, 2020 Row*' mm BY ELECTRONIC MAIL&CERTIFICATE OF K8A|L|0G v/un"u,n,wmce demmeovifmm^m*mm | Conservation Commission / Town Hall 120 Main Street North Andover &4A01845 A1tn: Ms. AmyMaxner, Conservation Administrator Phone: (978) 688-9530 Email: RE: Notice mf Intent (0O|)application -for the continuation ofanAquatic §Qgnagenuent Program at East Mill Pond, North Andover Dear Ms. K8axner and Members of the Commission, Our firm has prepared the following Notice of Intent(N(}|) Application to meet the requirements of the Enforcement Order dated iJune 1, 2020;the Massachusetts Wetlands Protection Act(MGLCh. 131Seo. 40) and its Regulations(310Ck4R 10.00' et oeq) (the "Act"); and the North Andover Wetlands Protection Bylaw Chapter 190and its regulations. VVe were authorized to prepare this filing otthe request of the RCG North Andover Mills,the "App|icant"for the project located at East Mill Pond in the town of North Andover, Massachusetts.The Applicant is seeking approval to continue en Aquatic Management Program at East K4i|/ Pond ---- ------------------- (See Figure 2). Aerial view of East Mill Pond The proposed project has been filed asmn Ecological Restoration Limited Project under 310 CRM 10.53(4)and will protect the interest of the Wetland Protection Act by controlling non-native, nuisance species (water chestnut and purple |ooses1rife) and slowing pond eutrophicationz. The pond is currently being managed under DEPFile #242'l646, (which has expired), and the subsequent Enforcement Order. 1 The Wetlands Protection Act Ecological Restoration Limited Project regulations are incorporated by reference in North Andover's Bylaw Regulations(see Bylaw Regulations§2.8). 11Pa � e Executive Summary The Cochichewick River from Stevens Pond enters the pond from the east and exits at the western end under the mill at 21 High Street, eventually entering Surface Area (acres) 2.62 Osgood Pond roughly 0.25 miles downstream. The outlet of the pond is a weir structure with outflow Estimated Average 3.0 control that allows for water level manipulation. Depth (feet) Inflow into the pond is reportedly variable and is Maximum Observed dependent upon the outflow from Lake 6.0 Cochichewick upstream. 6.Depth (feet) The project site is approximately 13.5 acres and is a (2 m pion p 1 pp Y Estimated Volume (2 million gal.) historic mill complex occupied by several brick buildings, associated parking lots, and a parking Water Chestnut garage. The site is bound to the north by Prescott Curlyleaf pondweed Street and residential development,to the east by Duckweed residential development and Cochichewick Brook,to Dominant Plant Species Watermeal the south by residential development and Water Coontail Street, and to the west by commercial development Common Reed and High Street. Almost the entire site has been Purple Loosestrife developed and disturbed and wooded areas are limited to the southeastern corner of the site bordering on Cochichewick Brook and Mill Pond. A 51-unit residential building was permitted to be constructed adjacent to the pond (DEP File#242-1724) but construction of the structure has not yet commenced. A well-established vegetated buffer is present around the majority of the pond and is composed of a mixture of upland and woody plants. Use of the pond is restricted to passive wildlife watching. i.(? )�.�'c"ri�)e: l­ The pond is located north of Water Street and east of High Street in North Andover. It is a shallow, man- made impoundment that supports extensive floating-leafed and submersed plant growth throughout the entire waterbody. Mill Pond is one of a series of man-made impoundments located between Lake Cochichewick and the confluence of Cochichewick Brook and the Merrimac River. Northwestern and southwestern sections of Mill Pond are bound by vertical retaining walls and former mill buildings. Mill Pond, along with several other man-made ponds(Osgood Pond and Sutton Pond) located downstream, were historically used for hydropower, process water and/or fire protection. In February of 2017,the original weir outlet structure failed and was replaced by a new outlet weir structure permitted and constructed under DEP#242-1699. The pond is approximately 2.6 acres in size(114,340 ft2)with an estimated average depth of roughly 3 feet and a total estimated capacity of approximately 2 million gallons.Z Z Estimates of surface area were measured with ArcView from a spatially referenced orthophoto provided by MassGis Wetland Restoration,Wildlife Habitat Assessment,Permit Preparation,and Ecological Services 21r1ave - �'I",n ry /OfroOuCtiOO The objective of the proposed management program is to provide selective control of nuisance-level and non-native submersed and emergent aquatic plant species,specifically water chestnut(Trapa natans), cudy|eafpondvveed (PotamoQetoncrispum), duckweed and/or vvatermea| (Lemnmspp, and VVo|0aopp, respectively) common reed /Phrm8mitesaustraUo\, and purple |oosemtrife (Lythrum aaUcaria), to promote growth of less pervasive plant species, improve and maintain open water habitat, and improve recreational opportunities at the pond. Based on the types nf non-native and nuisance species growing in the pond, it has been concluded the restoration goals can best be achieved through an integrated program that includes the prudent use of USEPA/MA DAR registered herbicides and algaecides. Existing Conditions The pond has been managed annually since 20I5 when the last Order nf Conditions was issued. The pond supports native aquatic vegetation, however it is dominated by growth of invasive curlyleaf pondvveed (Potonnogetnncrispus)followed by water chestnut(7roponutons). Cudy|eafpondvveed typically begins growing under the ice in the winter,to reach the water's surface by late May to eventually drop its annual turionsby late June and die back bymid-Ju|y. |n early tomid-June,the water chestnut growth begins to rise within the water column and eventually surfaces in mid to late June; each water chestnut plant can drop more than 15 nut|eta on an annual basis, and they are viable within the sediment for at least adecade. 8y conducting annual management prior to both species depositing their seed structures each year, a reduction in the distribution and density of both species can be achieved overtime. During mid-summer,duckweed and/or watermeal growth (small, unrooted, floating plants) begin to dominate the surface of the pond,almost resembling a cyanobacteria bloom to the untrained eye. These plants,although tiny, can become so dense and cover the entire surface of the water if left unmanaged. Both common reed (Phnag/nity uuxtro0s) and purple /000estrife (LyU4runn salicara) have scattered growth around the shoreline of the pond and adjacent upland areas; both of these species are also considered invasive and have the potential to significantly spread over the course of one year. Proposed Program Five-year approval is requested for the continuation of an Aquatic Management Program at East Mill Pond. The8oa| ofthemonaOementproQramistoprnvidecontro| mfnon'native, invasivaRrovvthof cur|y|eofpondvveed,water chestnut and purple |oosestrifeLo promote mixed assemblage ofnative aquatic plant species, improve water clarity and improve recreational access using treatment with USEPA/MA DAR registered aquatic herbicides or other Best Management Practices (BMPs). Based on the chemistry ofthe proposed herbicides and algaecides,along with the chemical dose,timing and method of application,the herbicides can be reasonably selective for the targeted plant species with a negligible risk to non-target organisms when used in accordance with their USEPA approved labels. Specifically we are requesting the use of Clearcast(imazamox) herbicide to control growth of non-native water chestnut, common reed and purple |oosestrife;and Clipper(f|umioxazin) herbicide tocontrol nuisance duckvveed/watermea|growth;Tribune /diquod herbicide to control growth of non-native oudy|eafpondvveed. Contingent approval for the use a copper-based algaecide (i.e. CUS04, Captain XTR, SeClear) is also requested in the event that nuisance algae develop or management of nutrients is deemed beneficial. ~ Wetland Restoration,Wildlife Habitat Assessment,Permit Preparation,and Ecological Services s| pa � e � � ° The proposed products specifically affect the target plant and algae species to be controlled and have a negligible effect on the non-target species and wildlife when applied in accordance with the label directions. All chemicals are applied at or below suggested doses according to the product label. In addition, doses are based on plant types and densities so that a minimum amount of the chemicals are introduced into the pond. Nuisance aquatic vegetation and algae management projects are typically filed under the Limited Project status [31OCK8R20.53(4)]. The primary objective of the proposed project is control of non- native, invasive and nuisance species through treatment with USEPA/MA DAR registered aquatic herbicides or other 8MPs. No significant alteration to wetland resources areas will occur as a result of the proposed pond management program; instead the resource areas will be enhanced by controlling non-native, invasive aquatic plant species and improving water quality. The proposed management activities are consistent with the guidelines in the following documents: ° Final Generic Environmental Impact Report: Eutrophication and Aquatic Plant Management in Massachusetts(June 2O04) • Guidance for Aquatic Plant Management in Lakes and Ponds: Asit Relates to the Wetlands Protection Act(April ZO04—DEPPo|ioy/SOP/Guide||ne#BRP/DVVM/VVVV/G04'1) • The Practical Guide to Lake Management in Massachusetts (2O04) �.(``[]|' E. om0is one of many naturally occurring bacteria found within the intestine of healthy humans and anima|s. The presence of co8in pond and/or lake water is indicative of recent sewage or animal waste contamination. The Massachusetts Department of Public Health has standards for the presence of coKin "swimmable waters". The current standard for freshwater is no single sample shall exceed 235 colonies per1OO mi Remember, these are generic counts ofE. cn0ceUs in the water. The actual source of these E. coliane unknown. In fact they likely originate from a multitude of possible sources, including human waste, bird droppings, agricultural run-oft or even naturally occurring E co8poesent in the soil. Potential sources ofE.cnU inputs at East Mill Pond are likely any migratory birds such as geese or large flocks of seagulls that may be venturing through the area of the pond. As migratory birds are often found in larger flocks, the higher the potential for a greater amount of E.coli present. Although animals can also be an E.00|i source, often wild animals are not found in large enough groups to impact water quality via E.cuU, unless ino very rural or undeveloped area. |f any significant runoff inputs are present, those should be followed upstream to identify any potential bacteria sources. However, mitigation of bacteria inputs that are upstream and potentially off-property may be challenging with limited feasibility. If migratory birds are identified to be the primary offender, mitigation strategies such as the "Geese Police," other scare tactics, or hunting (if allowed and legal) are viable options to discourage the flocks from remaining in the area. Unfortunately, there are few in-water mitigation options available currently for management of a bacterial increase. Many copper algaecides are also effective bactericides and provide a viable option when bacteria counts may be higher than normal. Additionally, B|oChuruooks can be installed in areas where nutrient/bacteria input sources are within the pond (i.e. at/undera stormvxateroutf|ovv> so their absorptive material can bind with available nutrients, bacteria, and metals. These socks can typically be Wetland Restoration,Wildlife Habitat Assessment,Permit Preparation,and Ecological Services 4| p ^ ue left in place for up to a year before replacing and the actual material within the 'spent' socks can be reused as a fertilizer in some cases. Further, assuming the increase in bacteria presence is not a common/frequent occurrence,the bacteria can also die off naturally on their own. Wetland Restoration,Wildlife Habitat Assessment,Permit Preparation,and Ecological Services 5l ,; Project Elements In brief,the proposed implementation of an Aquatic Management Plan includes the following elements: 1. Herbicide Treatment 2. Monitoring These project elements are described in detail in subsequent sections of this report. i , y , Imazamox(Clearcast—EPA #241-437-67690) Recently registered by the MA Department of Agricultural Resources,the USEPA/MA registered herbicide Imazamox will be applied to the area at or below the permissible label dose. It has been registered for multiple years by the USEPA and utilized outside of the state to manage submersed, floating-leaf, and emergent vegetation. Imazamox would be applied to control invasive water chestnut growth at the application rate of 1.5 lbs. ae/acre, if necessary. Temporary water use restrictions for Imazamox are now: 1) No drinking or cooking until residue testing results are below 50 ppb, 2) No irrigation until concentrations are below 50 ppb. There are no restrictions on swimming, boating, fishing,watering of livestock, or domestic use, but prudent herbicide management suggest that we close the area on the day of treatment. The shoreline will be posted with signs warning of these temporary water use restrictions prior to treatment. Imazamox is a systemic herbicide. When applied as a foliar spray, it is quickly absorbed by foliage and rapidly translocated to the growing points stopping growth. The concentrated herbicide is diluted with river water onboard the treatment vessel and applied via a low-volume pumping system. A spray adjuvant will be mixed with the diluted herbicide to improve efficacy. Impacts Specific to the Wetlands Protection Act using Imazamox • Protection of public and private water supply—Generally neutral, but may have detriment at high doses (setback of treatment required, with distance based on dose and area treated) • Protection of groundwater supply—Neutral (no interaction) • Flood control- Neutral (no significant interaction) • Storm damage prevention—Neutral (no significant interaction) • Prevention of pollution—Generally neutral (no significant interaction), but could be a detriment if plant die-off causes low oxygen at the bottom of the lake • Protection of land containing shellfish- Generally neutral (no significant interaction) • Protection of fisheries- Possible benefit (habitat enhancement) and possible detriment (food source alteration, loss of cover) • Protection of wildlife habitat—Possible benefit (habitat enhancement) and possible detriment (food source alteration, loss of cover) Wetland Restoration,Wildlife Habitat Assessment,Permit Preparation,and Ecological Services 61r ag(,: , ~ livestock watering for 1 day. There are no restrictions on swimming, boating,or fishing, but prudent herbicide/algaecide management, suggest that we close the pond on the day of treatment. The shoreline of the pond will be posted with signs warning of these temporary water use restrictions, prior to treatment. Diquat is translocated to some extent within the plant. Its rapid action tends to disrupt the leaf cuticle of plants and acts by interfering with photosynthesis. Upon contact with the soil, |1isadsorbed immediately and thereby biologically inactivated. Residual levels of cliquat in treated water decline rapidly and their reduction is due to the uptake by the targeted vegetation and adsorption to suspended soil particles in the water oron the bottom mud. Photochemical degradation accounts for some loss under conditions of high sunlight and clear waters. Impacts Specific to the Wetlands Protection Act using Diquat w Protection of public and private water supply—Benefit(water quality improvement) w Protection of groundwater supply—Neutra| nointenadionaodiquatioobsorbedtosoi| partides • Neutral (no significant interaction) • Storm damage prevention—Neutre| (no significant interaction) • Prevention of pollution—Generally neutral (no significant interoction), but could beadetriment if plant die-off causes low oxygen at the bottom of the lake w Protection of land containing shellfish-Generally neutral(no significant interaotinn), but reduced algae might reduce food resources for shellfish, and direst toxicity is possible under unusual circumstances * Possible benefit(habitat enhancement)and possible detriment(food source alteration, loss ofcover) * Protection of wildlife habitat—Possible benefit(habitat enhancement)and possible detriment (food source alteration, loss ofcover) A|��a���i� -T���f[T)���t Captain—EPA#6 SeCleQr—EPA # Green/lmmPRO—EPA #70299-15 or equivalent Approval for the use of a copper or peroxide-based algaecide is requested in the event that nuisance algae conditions develop,warranting treatment. Copper based algaecides (i.e.CuSO4, Captain,SeClear)are widely used and are applied to lakes and ponds throughout North America to control nuisance filamentous and microscopic algae. There are no | | vvateruseresthctionsassoc|atedw|thcoppepbaseda|8oecidexandSOLitudetnea1ssewere|dinect potable (drinking)water reservoirs and several recreation watarbodieuin the Commonwealth with these algaecides, una yearly basis. The concentrated liquid algaecides are first diluted with pond water and | are then sprayed throughout the pond area. The application rate is generally 0.2ppmor less for algae � control. |f applied,treatment will not exceed 5UYSof the mmterbodyvolume. Peroxide based algaecides(i.e. GreenClean PRO,GreenClean Liquid) are a recent addition to algae | management. Similar The . � products are diluted with pond water and then sprayed evenly throughout the treatment area. The � application rate ls0.5-1.5 gallons per acre-foot for algae control. |f applied,treatment will not exceed � 5OY6of the vvaterbodyvolume. � Wetland Restoration,Wildlife Habitat Assessment,Permit Preparation,and Ecological Services _ n| paue Flumioxazin (Clipper- EPA #59639-161 or equivalent) The USEPA/MA registered herbicide flumioxazin (Clipper) is the only contact herbicide currently approved for use in Massachusetts that can provide effective control of duckweed and watermeal,as well as filamentous algae. Clipper herbicide is classified as a PPO (Protoporphyrinogen oxidase) inhibitor that initiates cell membrane disruption providing control of a broad range of susceptible plants. Clipper is a true contact herbicide that provides quick and effective control of target plant species. Although Clipper is not shown to have systemic activity, one or more years of reasonable control have been observed at other projects in New England where Clipper has been applied. Flumioxazin is extremely fast-acting and has a very short half-life so it is perfect for spot/site specific treatments. Impacts Specific to the Wetlands Protection Act using Flumioxazin • Protection of public and private water supply—Benefit(water quality improvement) • Protection of groundwater supply—Neutral no interaction as flumioxazin has a low leaching potential • Flood control - Neutral (no significant interaction) • Storm damage prevention—Neutral (no significant interaction) • Prevention of pollution—Generally neutral (no significant interaction), but could be a detriment if plant die-off causes low oxygen at the bottom of the lake • Protection of land containing shellfish -Generally neutral (no significant interaction), but reduced algae might reduce food resources for shellfish, and direct toxicity is possible under unusual circumstances • Protection of fisheries- Possible benefit(habitat enhancement) and possible detriment (food source alteration, loss of cover) • Protection of wildlife habitat—Possible benefit(habitat enhancement) and possible detriment(food source alteration, loss of cover) Diquat (Reward®- EPA #100-1091 or equivalent)3 Reward (diquat) is an effective herbicide for partial-pond treatments due to its rapid mode of action and short herbicide concentration-exposure-time requirements. Even though diquat is considered to be a contact-herbicide, longer term control may be seen as plants' root crowns will not be allowed to develop. The USEPA/MA registered herbicide diquat dibromide will be applied to the area at or below the permissible label dose. Reward is a widely used herbicide, applied to greater than 500 lakes and ponds annually,throughout the northeast,to control nuisance submersed aquatic plants. Diquat would be applied to control milfoil, curly-leaf pondweed and other nuisance submersed plants at the application rate of 1.0-2.0 gal/acre, if necessary. Temporary water use restrictions for diquat are now: 1) No drinking or cooking for 3 days. 2) No irrigation of turf for 3 days and of food crops for 5 days, and 3) No 3 Commonwealth of Massachusetts Executive Office of Environmental Affairs.Practical Guide to Lake Management:2004.124 p Wetland Restoration,Wildlife Habitat Assessment,Permit Preparation,and Ecological Services 7I ' ^ Impacts Specific to the Wetlands Protection Act using and Peroxide algaecides * Protection of public and private water supply—Benefit(used to control algae) • Protection of groundwater supply—Neutra| (no significant interaction) • Flood-control-Neutral (no significant interaction) • Storm damage prevention—Neutral (no significant interaction) • Prevention of pollution-GeneraUy neutral (no significant interaction), but could be a detriment if algae/plant die-off causes low oxygen ot the bottom ofthebkeVroausesre|eoseoftasteandudor compounds or toxins p Protection of land containing shellfish -Generally neutral (no significant interaction), but reduced algae might reduce food resources for shellfish,and direct toxicity is possible under unusual circumstances. • Protection of fisheries-Possible benefit(habitat enhancement)and possible detriment(food source alteration, direct toxicity) • Protection of wildlife habitat—Possible benefit(habitat enhancement)and possible detriment(food source alteration,direct toxicity) Proper herbicide and algaecide application allows for targeted plant control without posing an unreasonable adverse risk to non-target species and wildlife. Written approval from the Commission will be sought should alternate products be considered in future years. All products proposed for use will be registered for aquatic use inMassachusetts. Management Technique Descriptions Detailed information on all the approaches proposed in this NO| can be found at the Massachusetts Department of Conservation and Recreation,Lakes and Ponds Program vxehs|te. There are links under the Publications tab to the "Generic Environmental Impact Report for Eutrophication and Lake Management in Massachusetts" and the "Practical Guide to Lake Management in Massachusetts." Additional information on the herbicides and algaecides can be found at the Massachusetts Department mf Agricultural Resources mebsite: � 4 Commonwealth of Massachusetts Executive Office of Environmental Affairs. Practical Gilide to Lake Management � 2004. 122 p. | � ~ Wetland Restoration,Wildlife Habitat Assessment,Permit Preparation,and Ecological Services 9| pawe Monitoring of in-pond vegetation and water quality is paramount to the success of any aquatic management program and helps to guide future management decisions and identify any potential issues ur new invasive species. As part of the proposed management plan, early and late season surveys will be performed to document plant conditions, and management response. Regular inspections will be conducted in order assess the growth phase of the target plant species and overall pond conditions. Post-management inspections will be conducted in order to assess the efficacy of the management efforts and any impacts on non-target species so future applications can be properly adjusted to minimize non-target impacts. Year-End Reports documenting our annual management efforts,observed conditions, management efficacy, and future recommendations will be provided to the Commission. Wetland Restoration,Wildlife Habitat Assessment,Permit Preparation,and Ecological Services 10| pau* Impacts of the Proposed Management Plan Specific to the Wetlands Protection Act The following section provides a brief discussion of the proposed management programs impacts on the statutory interests of the Wetlands Protection Act Protection Of public and private water supply-East Mill Pond is not used directly as a drinking water supply. Aquatic herbicide treatment at the pond will not have any adverse impacts on the public or private water supply,when used in accordance with the project label and conditions of the MA DEP License to Apply Chemicals. Protection Of groundwater Supply—According to available studies,there is no reason to believe that the groundwater supply will be adversely impacted by the proposed management strategies, specifically the application of the chemicals at the proposed rates to East Mill Pond,when used in accordance with the product labels. Contamination of groundwater by aquatic herbicides is limited by their low rate of application, rapid rate of degradation, and uptake by target plants. SOLitude's State licensed applicators take all necessary precautions when mixing and disposing of all chemical containers. Flood control and storm damage prevention-No construction, dredging or alterations of the existing floodplain and storm damage prevention characteristics of the pond are proposed. However, in some instances, abundant and excessive aquatic plant growth can contribute to high water and flooding. Most commonly this occurs in the vicinity of waterbody outlets or water conveyance channels and structures. The unmanaged, annual growth and decomposition of abundant plant growth is also known to increase sediment deposition at an accelerated rate. Therefore,the proposed management approaches may increase the capacity of the resource area over the long-term to provide flood protection. Prevention Of pollution—No degradation of water quality or increased pollution is expected by the proposed management approaches. The proposed herbicides are relatively slow acting in controlling the nuisance vegetation. This results in a slow release of nutrients from the decaying plants, reducing the potential for increases in nutrients that can cause algae blooms. Removal of the excessive growth of aquatic vegetation will contribute to improved water circulation and a reduction in the potential for anoxic conditions. The post-treatment decrease in plant biomass will help to decrease the rate of eutrophication currently caused by the decomposing of excessive plant material Protection of fisheries and shellfisheries-contiguous, dense beds of aquatic vegetation provide poor habitat for most species of fish. Dense plant cover frequently results in significant diurnal fluctuations in dissolved oxygen as well as oxygen depletion during certain times of the year. While temporary effects on some desirable submersed and floating-leafed species may occur following the application of an aquatic herbicide, non-target plants typically rebound quickly. Shoreline emergent plants will not be impacted following the use of aquatic herbicides. Protection of wildlife and wildlife habitat-In general, excessive and abundant plant growth, especially non-native plants, provides poor wildlife habitat for fish and other wildlife. The proposed management plan is expected to help prevent further degradation of the waterbody through excessive Wetland Restoration,Wildlife Habitat Assessment,Permit Preparation,and Ecological Services 121 P a g Existing Wetland Resource Ares Proposed work at the Site will occur within land under waterbody.Therefore,the project that is the subject of this application is within the jurisdiction of the North Andover Conservation Commission under the Act and requires pre-construction review by the Commission. d IdE',, � � i1er Bc)d�r,s d" I°I aLervA/ay s 31�� All proposed work associated with the proposed Aquatic Management Plan in East Mill Pond is located within Land Under Water Body. Land under water body is defined as"the land beneath any creek, river, stream, or lake. Said land may be composed of organic much or peat,fine sediments, rocks or bedrock...The boundary of Land under Water Bodies and Waterways is the mean annual low water level" (310 CMR 10.56 (2)), l:e Fr'W� i ' e cl 1 i iI '1" 1 1"'1", e ANi I d h „" The proposed project is not located within the boundaries of Priority or Estimated Habitats of Rare Species as determined by the Massachusetts Natural Heritage and Endangered Species Program (NHESP -Figure 5). Therefore, a review of this application is not required by the NHESP and a copy of the application has not been forwarded to them. Q` oxi rd''c ,,,,il' rj,? L(i `i �,i e, o o d ri The proposed project is not located within a flood zone as shown Federal Emergency Management Agency's(FEMA) most recent Flood Insurance Rate Map (FIRM);(See Figure 6). Accordingly, bordering land subject to flooding would not be impacted as a result of this project. East Mill Pond is directly adjacent to Cochichewick Brook which is a jurisdictional "river" under the Act and the Bylaw. The Riverfront Area extends in to East Mill Pond. Portions of the project and the access to the work area may be within the Riverfront Area. Since the work is proposed as an Ecological Restoration Limited Project,the Riverfront Area regulations under 310 CMR 10.58 are not applicable to the work proposed.As regards the access area;this is a temporary disturbance which will be remediated as needed to return the access area to the pre-existing condition. Wetland Restoration,Wildlife Habitat Assessment,Permit Preparation,and Ecological Services 111 P ar, o weed growth and improve the wildlife habitat value of the pond in the long-term. Maintaining a balance of open water and vegetated areas is intended. Alternatives Analysis Alternatives to the proposed Aquatic Plant Management Plan were considered. SOLitude evaluated all available strategies for management of East Mill Pond. Findings and recommendations are based on direct experience and discussions found in the Eutrophication and Aquatic Plant Management in Massachusetts Final Generic Environmental Impact Review (FGEIR, EOEA 2004). Harvesting/Hydra-raking: Not Recommended Harvesting of curlyleaf pondweed, duckweed, watermeal,common reed or purple loosestrife is not recommended because its ability to reproduce through vegetative fragmentation, leading to increased spread into previously un-infested areas or further intensifying growth rates. Additionally, harvesting would be costly and at best would only provide a season of relief from the filamentous algae growth with no guarantee of success. The disruption and non-target impacts would be more significant than with spot-treatments using aquatic herbicides. If water chestnut growth reaches low enough densities, physical removal via hand-pulling will be considered and utilized if appropriate. Biological: Not Recommended There are no proven biological controls available or approved by the State for the control of the invasive aquatic plant species present at East Mill Pond. Sediment Excavation/Dredging: Not Recommended Dredging nutrient rich bottom sediment is sometimes used as a strategy to control excessive weed growth. Conventional (dry) or hydraulic dredging would require the expenditure of hundreds of thousands of dollars in design and permitting fees alone. Dredging may also have severe impacts to aquatic organisms (i.e.fish and macroinvertebrates) in the ponds with no guarantees of elimination of invasive vegetation. Do Nothing: Not Recommended If the invasive and nuisance plant and algae growth is allowed to continue unabated, eutrophication and filling-in at the pond will continue to occur at an accelerated rate due to the annual decomposition of excessive plant material. Anoxic conditions would degrade water quality and potentially impact fish and other aquatic organisms. Stagnant conditions will also increase water temperatures promoting both algae and bacterial growth as well as providing extensive mosquito breeding habitat. The pond's recreational and aesthetic value would be significantly degraded. Wetland Restoration,Wildlife Habitat Assessment,Permit Preparation,and Ecological Services 13� Jurisdiction any Procedural Matters Abutters within 300 feet of East Mill Pond have been notified in writing by Certificate of Mailing in accordance with the Massachusetts Department of Environmental Protection (MADEP) policy regarding such notice, which is in effect for NOls filed after April 13, 1994. Proof of this notice and a copy of the letter sent (typical) accompany this filing, as required (see Appendix A). Fee calculation sheets and fee transmittal forms are attached to this application (See Forms). A single copy of this application has also been forwarded to the MassDEP/HERO to await the issuance of a file number.A copy of the Fee Transmittal Form and filing fee has been sent to the MassDEP Lock Box in Boston, Massachusetts by Certificate of Mailing. C. n,1j,)IG in cc: l The objective of this project is to continue controlling an invasive species. Managing densities of native species will typically not adversely affect wildlife habitat and will not negatively impact other interests of the Massachusetts Wetlands Protection Act. No significant alteration to wetland resources areas will occur as a result of the proposed management program; instead the resource areas will be enhanced by controlling the nuisance plant and algae growth. The proposed management activities are consistent with the guidelines in the following documents: • Final Generic Environmental Impact Report: Eutrophication and Aquatic Plant Management in Massachusetts (June 2004) • Guidance for Aquatic Plant Management in Lakes and Ponds: As it Relates to the Wetlands Protection Act(April 2004—DEP Policy/SOP/Guideline#BRP/DWM/WW/G04-1) • The Practical Guide to Lake Management in Massachusetts (2004) DEP License To Apply Chemicals: All chemical applications will be performed by MA Certified Applicators. The USEPA/MA registered aquatic herbicides will be applied at or below recommended label rates, in accordance with the "Order of Conditions" and DEP "License to Apply Chemicals" permits (BRP WM04). Prior to treatment,the shoreline will be posted with signs warning of all temporary water use restrictions. A site specific "License to Apply Chemicals"for the proposed treatment will be filed with Massachusetts DEP,Office of Watershed Management. Massachusetts Endangered Species Act: According to the most recent Natural Heritage maps provided by MA GIS(Figure 5), East Mill Pond is not located within area designated as an Estimated Habitat of Rare Species as determined by the Wetland Restoration,Wildlife Habitat Assessment,Permit Preparation,and Ecological Services 14111a g, e Massachusetts Natural Heritage& Endangered Species Program (NHESP). A formal review by NHESP is not required. Massachusetts Environmental Policy Act: The strategies proposed in this NO1 are options approved under the Massachusetts Environmental Protection Act(MEPA) process that was approved in 2004 with the issuance of the FGEIR and the Practical Guide to Lake and Pond Management in Massachusetts. These approaches do not require individual MEPA review. Request for Issuance of an Order of Conditions We hereby certify under the penalties of perjury that,to the best of our knowledge,this project meets all eligibility requirements listed in 310 CMR 10.13. The proposed project has been designed to avoid and minimize impacts to existing wetland resource areas as defined under the Massachusetts Wetlands Protection Act(MGL CH. 131 Sec.40, et seg.) . Since the interests of the Act have been addressed as part of this plan,we request that a Restoration Order of Conditions be issued so that the RCG North Andover Mills may commence with the proposed project. Should you have any questions, or would like to arrange a site walk to review the project, please don't hesitate to call us at(978) 948-7717. Respectfully submitted, DeRosa Environmental Consulting,Inc. Evin Guvendiren Michael J. DeRosa, Principal Natural Resource Economist Wetland Ecologist, LSP, LEER AP, PWS cc: MassDEP Northeast Regional Office, 205 Lowell St, Wilmington, MA 01887 SOLitude Lake Management, 590 Lake Street, Shrewsbury, MA 01545 RCG North Andover Mills (by email) Wetland Restoration,Wildlife Habitat Assessment,Permit Preparation,and Ecological Services 15 1 �3 r, e Forms N o Gke of h' t cl fry t )I'VIA) MA F o rr'n .gym Wetland Restoration,Wildlife Habitat Assessment,Permit Preparation,and Ecological Services 1611'' a g e 4 �'rovided by Ma-0015. Massachusetts Department of Environmental Protection t Bureau of Resource Protection - Wetlands MassDEP File Number WPA Form 3 — Notice of Intent Massachusetts Wetlands Protection Act M.G.L. c. 131, §40 Document Transaction NumberNORTHANDOVER City/Town Important: A. General Information When filling out forms on the computer,use 1. Project Location (Note: electronic filers will click on button to locate project site): only the tab key to move your 1 High Street North Andover 01845 cursor-do not a.Street Address b.City/Town c.Zip Code use the return key. Latitude and Longitude: 42,42.03,276 71.07.03.936 d.Latitude e.Longitude 69 1 f.Assessors Map/Plat Number g.Parcel/Lot Number 2. Applicant: David Steinbergh a:First Name b.Last Name Note: RCG North Andover Mills Before c.Organization completing this 17 Ivaloo Street, Suite 100 form consult your local d.Street Address Conservation Somerville MA 02143 Commission e.City/Town f.State g.Zip Code regarding any b i t d 1 1 67-625-835 sener h rc municipal bylaw g @ g- Ilc.com or ordinance. h.Phone Number i.Fax Number j.Email Address 3. Property owner(required if different from applicant): ❑ Check if more than one owner a.First Name b.Last Name c.Organization d.Street Address e.City/Town f.State g.Zip Code h.Phone Number i.Fax Number j.Email address 4. Representative (if any): Kara Sliwoski a.First Name b.Last Name SOLtude Lake Management c.Company 590 Lake Street d.Street Address Shrewsbury MA 01545 e.City/Town f.State g.Zip Code 508-865-1000 508-865-1220 ksliwoski@soltudelake.com h.Phone Number i.Fax Number j.Email address 5. Total WPA Fee Paid (from NOI Wetlarid Fee Transmittal Form): $165.00 $70.00 $95.00 a.Total Fee Paid b.State Fee Paid c.City/Town Fee Paid wpaform3.doc•rev.2/8/2018 Page 1 of 9 4 Massachusetts Department of Environmental Protection Provided by MassDEP: Bureau of Resource Protection - Wetlands MassDEP File Number WPA Form 3 — Notice of Intent Document Transaction NumberLL . Massachusetts Wetlands Protection Act M.G.L. c. 131, §40 NORTH ANDOVER City/Town A. General Information (continued) 6. General Project Description: Implementation of an aquatic invasive vegetation management program 7a. Project Type Checklist: (Limited Project Types see Section A. 7b.) 1. ❑ Single Family Home 2. ❑ Residential Subdivision 3. ❑ Commercial/Industrial 4. ❑ Dock/Pier 5. ❑ Utilities 6. ❑ Coastal engineering Structure 7. ❑ Agriculture(e.g., cranberries, forestry) 8. ❑ Transportation 9. ® Other 7b. Is any portion of the proposed activity eligible to be treated as a limited project(including Ecological Restoration Limited Project)subject to 310 CMR 10.24 (coastal) or 310 CMR 10.53 (inland)? 1. ® Yes ❑ No If yes, describe which limited project applies to this project. (See 310 CMR 10.24 and 10.53 for a complete list and description of limited project types) Ecological Restoration Limited Project 10.53(4)(e)(.5) 2. Limited Project Type If the proposed activity is eligible to be treated as an Ecological Restoration Limited Project(310 CMR10.24(8), 310 CMR 10.53(4)), complete and attach Appendix A: Ecological Restoration Limited Project Checklist and Signed Certification. 8. Property recorded at the Registry of Deeds for: Northern Essex Registry of Deeds a.County b.Certificate#(if registered land) 15769 217 c.Book d.Page Number B. Buffer Zone & Resource Area Impacts (temporary & permanent) 1. ❑ Buffer Zone Only—Check if the project is located only in the Buffer Zone of a Bordering Vegetated Wetland, Inland Bank, or Coastal Resource Area. 2. ® Inland Resource Areas (see 310 CMR 10.54-10.58; if not applicable, go to Section B.3, Coastal Resource Areas). Check all that apply below.Attach narrative and any supporting documentation describing how the project will meet all performance standards for each of the resource areas altered, including standards requiring consideration of alternative project design or location. wpaform3.doc•rev.2/8/2018 Page 2 of 9 4 Massachusetts Department of Environmental Protection Provided by MassDEP: Bureau of Resource Protection - Wetlands MassDEP File Number WPA Form 3 — Notice of Intent Document Transaction Number Massachusetts Wetlands Protection Act M.G.L. c. 131, §40 NORTH ANDOVER City/Town B. Buffer Zone & Resource Area Impacts (temporary& permanent)(cont'd) Resource Area Size of Proposed Alteration Proposed Replacement(if any) a. ❑ Bank 1.linear feet 2.linear feet For all projects affecting other b. ❑ Bordering Vegetated Resource Areas, Wetland 1.square feet 2.square feet please attach a approx. 2.53 acres approx. 2.53 acres narrative c. ® Land Under 1.square feet 2.square feet explaining how Waterbodies and the resource Waterways area was 3.cubic yards dredged delineated. Resource Area Size of Proposed Alteration Proposed Replacement(if any) d. ❑ Bordering Land Subject to Flooding 1.square feet 2.square feet 3.cubic feet of flood storage lost 4.cubic feet replaced e. ❑ Isolated Land Subject to Flooding 1.square feet 2.cubic feet of flood storage lost 3.cubic feet replaced Cochichewick Brook f. ® Riverfront Area 1.Name of Waterway(if available) -specify coastal or inland 2. Width of Riverfront Area (check one): ❑ 25 ft. - Designated Densely Developed Areas only ❑ 100 ft. - New agricultural projects only ® 200 ft. -All other projects 3. Total area of Riverfront Area on the site of the proposed project: approx 88,302sfsquare feet 4. Proposed alteration of the Riverfront Area: Osf Osf Osf a.total square feet b.square feet within 100 ft. c.square feet between 100 ft.and 200 ft. 5. Has an alternatives analysis been done and is it attached to this NO[? ® Yes❑ No 6.Was the lot where the activity is proposed created prior to August 1, 1996? ® Yes❑ No 3. ❑ Coastal Resource Areas: (See 310 CMR 10.25-10.35) Note: for coastal riverfront areas, please complete Section 6.21. above. wpaform3.doc•rev.2/8/2018 Page 3 of 9 4 Massachusetts Department of Environmental Protection Provided by MassDEP: Bureau of Resource Protection - Wetlands MassDEP File Number r WPA Form 3 — Notice of Intent Massachusetts Wetlands Protection Act M.G.L. c. 131, §40 Document Transaction NumberNORTH ANDOVER City/Town B. Buffer Zone & Resource Area Impacts (temporary & permanent) (cont'd) Check all that apply below. Attach narrative and supporting documentation describing how the project will meet all performance standards for each of the resource areas altered, including standards requiring consideration of alternative project design or location. Online Users: Include your Resource Area Size of Proposed Alteration Proposed Replacement(if any) document transaction a. ❑ Designated Port Areas Indicate size under Land Under the Ocean, below number (provided on your receipt page) b. ❑ Land Under the Ocean 1.square feet with all supplementary information you 2.cubic yards dredged submit to the Department. c. ❑ Barrier Beach Indicate size under Coastal Beaches and/or Coastal Dunes below d. ❑ Coastal Beaches 1.square feet 2.cubic yards beach nourishment e. ❑ Coastal Dunes 1.square feet 2.cubic yards dune nourishment Size of Proposed Alteration Proposed Replacement(if any) f. ❑ Coastal Banks 1.linear feet g. ❑ Rocky Intertidal Shores 1.square feet h.❑ Salt Marshes 1.square feet 2.sq ft restoration,rehab.,creation i. ❑ Land Under Salt Ponds 1.square feet 2,cubic yards dredged I. ❑ Land Containing Shellfish 1.square feet k. ❑ Fish Runs Indicate size under Coastal Banks, inland Bank, Land Under the Ocean, and/or inland Land Under Waterbodies and Waterways, above 1.cubic yards dredged I. ❑ Land Subject to Coastal Storm Flowage 1.square feet 4. ❑ Restoration/Enhancement If the project is for the purpose of restoring or enhancing a wetland resource area in addition to the square footage that has been entered in Section B.2.b or B.3.h above, please enter the additional amount here. a.square feet of BVW b.square feet of Salt Marsh 5. ❑ Project Involves Stream Crossings a.number of new stream crossings b.number of replacement stream crossings wpaform3.doc•rev.2/8/2018 Page 4 of 9 ' 4 Massachusetts Department of ��MvimonK�ental ��rotec�K�n pmvmv bymmmoEP: ~ Bureau Of Resource Protection - Wetlands Ma000sp File Number WPA Form 3 - Notice of Intent Ll Document Transaction Number Massachusetts Wetlands Protection Act M'G'L' 'C 131 G�� ' " NO0THANDOVER City/Town C. Other Applicable Standards and Requirements b0 This is n proposal for an Ecological Restoration Limited Project. Skip Section C and complete Appendix A: Ecological Restoration Limited Project Checklists— Required Actions (310CK8F< 10.11). Streamlined Massachusetts Endangered Species Act/Wetlands Protection Act Review 1. Is any portion of the proposed project located in Estimated Habitat of Rare Wildlife as indicated on the most naoant Estimated Habitat Map ofStuhe'Liuted Rare Wetland Wildlife published by the Natural Heritage and Endangered Species Program (NHESP)?To view habitat maps, see the Massachusetts Natural Heritage Atlas orgoio . If yes,a� Fl Yes �l No ' Natural Heritage and Endangered Species Program Division of Fisheries and Wildlife 1 Rabbit Hill Road h.Date ofmap Westborough, MA015D1 If yes, the project is also subject to Massachusetts Endangered Species Act(MESA) review (321 � / CK8R1O18) To 3O-d�y, MESA/Wetlands p|e000� � . . . � complete Section C.1.o, and include requested materials with this Notice of Intent(N0); OR � complete Section C.2.f, if applicable. If MESA supplemental information is not included with the NOI, � by completing Section / of this form, the NHESP will require u separate MESA filing which may take / i up to 90days to review(unless noted exceptions in Section 2 apply, see bmhw). c. Submit Supplemental Information for Endangered Species Review* 1. R Percentage/acreage of property to be altered: (o)within wetland Resource Area percentage/acreage (b)outside Resource Area percentage/acreage 2. R Assessor's Map orright-of-way plan ofsite 2. F-1 Project plans for entire project site, including wetland resource areas and areas outside of wetlands jurisdiction, showing existing and proposed conditions, existing and proposed tree/vegetation clearing line, and clearly demarcated limits of work~~ (a)El Project description (including description of impacts outside of wetland resource area & bufferzone) (b) [l Photographs representative of the site Some projects not in Estimated Habitat may be located in Priority Habitat, and require NHESP review(see | Priority Habitat includes habitat for state-listed plants � and strictly upland species not protected oy the Wetlands Protection Act. | ' ~~ MESA projects may not bo segmented(321 CMR 10.16).The applicant must disclose full development plans even if such plans are � not required eo part of the Notice of Intent process. � wmafonn3doo`rev.o012o18 Page nofe 4 Massachusetts Department of Environmental Protection Provided oyMeuomsp: Bureau Of Resource Protection - Wetlands massosp File Number WPA Form 3 — Notice of Intent Document Transaction Number Massachusetts Wetlands Protection Act M.G.L. 'C 131 @�� ' � NORTHANDUVER City/Town C. Other Applicable Standards and Requirements (conK"d) (c)E] MESA filing fee(fee information available at K8akeoheokpeyab|eto^Commonvvem|thofN1eooeuhuoeMa-NHE8P^ andnveilbmNHESPat above address Projects altering Y0or more acres of land, also submit: N> Vegetation cover type map ofsite (e) Project plans showing Priority & Estimated Habitat boundaries VV OR Check One of the Following 1.[] Project io exempt from MESA review. Attach applicant letter indicating which MESA exemption applies. (See 321 C&1R10.14. _1eview/rnesaftnesa ,ex [.It the ND| must mdU be sent to NHEGP if the project in within estimated habitat pursuant to 310CN1R 10.37and 10.59j 2.171 Separate MESA review ongoing. a.NHESP Tracking# b.Date submitted mNHEGp 3.F-1 Separate MESA review completed. Include copy of NHESP "no Take"determination or valid Conservation & Management Permit with approved plan. 3. For coastal projects only, is any portion of the proposed project located below the mean high water line or in afioh run? o. F-I Notepp|ioub|e-pnojact is in inland resource area only h.Fl Yes [l No If yes, include proof of mailing, hand delivery, or electronic delivery of NOI to either: South Shore-Cohamuotto Rhode Island border, and NurthShom-HuUtoNewHampohinebnrder the Cape& Islands: Division of MarinaFinherimo- Division of Marine Fisheries- Southeast Marine Fisheries Station North Shore Office Attn: Environmental Reviewer Attn: Environmental Reviewer 830 South Rodney French Blvd. 3U Emerson Avenue New Bedford, MA 02744 Gloucester, MA01S3O Email: Email: Also if yes, the project may require a Chapter Q1 license. For coastal towns in the Northeast Region, please contact K8aoeWEP'a Boston Office. For coastal towns in the Southeast Region, please contact K8meaDEP'e Southeast Regional Office. *mafonn3.duo`rev.o0oo1a Page nofe 4 Massachusetts Department of Environmental Protection Provided by MassDEP: Bureau of Resource Protection - Wetlands MassDEP File Number PA Form 3 — Notice of Intent Document Transaction Number Massachusetts Wetlands Protection Act M.G.L. c. 131, §40 NORTH ANDOVER City/Town C. Other Applicable Standards and Requirements (cont'd) 4. Is any portion of the proposed project within an Area of Critical Environmental Concern (ACEC)? Online users: a. ❑ Yes ❑ No If yes, provide name of ACEC (see instructions to WPA Form 3 or MassDEP Include your Website for ACEC locations). Note: electronic filers click on Website. document transaction b.ACEC number (provided on your 5. Is any portion of the proposed project within an area designated as an Outstanding Resource Water receipt page) (ORW) as designated in the Massachusetts Surface Water Quality Standards, 314 CMR 4.00? with all supplementary a. ❑ Yes ❑ No information you submit to the 6. Is any portion of the site subject to a Wetlands Restriction Order under the Inland Wetlands Department. Restriction Act(M.G.L. c. 131, §40A) or the Coastal Wetlands Restriction Act(M.G.L. c. 130, § 105)? a. ❑ Yes ❑ No 7. Is this project subject to provisions of the MassDEP Stormwater Management Standards? a. ❑ Yes. Attach a copy of the Stormwater Report as required by the Stormwater Management Standards per 310 CMR 10.05(6)(k)-(q) and check if: 1.❑ Applying for Low Impact Development(LID) site design credits (as described in Stormwater Management Handbook Vol. 2, Chapter 3) 2.❑ A portion of the site constitutes redevelopment 3.❑ Proprietary BMPs are included in the Stormwater Management System. b.❑ No. Check why the project is exempt: 1.❑ Single-family house 2.❑ Emergency road repair 3.❑ Small Residential Subdivision (less than or equal to 4 single-family houses or less than or equal to 4 units in multi-family housing project)with no discharge to Critical Areas. D. Additional Information ® This is a proposal for an Ecological Restoration Limited Project. Skip Section D and complete Appendix A: Ecological Restoration Notice of Intent—Minimum Required Documents(310 CMR 10,12). Applicants must include the following with this Notice of Intent(NO[). See instructions for details. Online Users:Attach the document transaction number(provided on your receipt page)for any of the following information you submit to the Department. 1. ® USGS or other map of the area(along with a narrative description, if necessary) containing sufficient information for the Conservation Commission and the Department to locate the site. (Electronic filers may omit this item.) 2. ® Plans identifying the location of proposed activities (including activities proposed to serve as a Bordering Vegetated Wetland [BVW] replication area or other mitigating measure) relative to the boundaries of each affected resource area. wpaform3.doc•rev.2/8/2018 Page 7 of 9 4 Massachusetts Department of Environmental Protection Provided by MassDEP: Bureau of Resource Protection - Wetlands MassDEP File Number � WPA Form 3 - Notice of Intent Document Transaction Number L Massachusetts Wetlands Protection Act M.G.L. c. 131, §40 NORTH ANDOVER City/Town D. Additional Information (cont'd) 3. 2 Identify the method for BVW and other resource area boundary delineations (MassDEP BVW Field Data Form(s), Determination of Applicability, Order of Resource Area Delineation, etc.), and attach documentation of the methodology. 4. ® List the titles and dates for all plans and other materials submitted with this NOI. Figures 1-6 attached to this NOI a.Plan Title DeRosa Environmental Consulting b.Prepared By c.Signed and Stamped by July 9, 2020 d.Final Revision Date e.Scale f.Additional Plan or Document Title g.Date 5. ❑ If there is more than one property owner, please attach a list of these property owners not listed on this form. 6.❑ Attach proof of mailing for Natural Heritage and Endangered Species Program, if needed. 7. ❑ Attach proof of mailing for Massachusetts Division of Marine Fisheries, if needed. 8. ® Attach NOI Wetland Fee Transmittal Form 9. ❑ Attach Stormwater Report, if needed. E. Fees 1. ❑ Fee Exempt: No filing fee shall be assessed for projects of any city, town, county, or district of the Commonwealth, federally recognized Indian tribe housing authority, municipal housing authority, or the Massachusetts Bay Transportation Authority. Applicants must submit the following information (in addition to pages 1 and 2 of the NOI Wetland Fee Transmittal Form)to confirm fee payment: 30930 7/6/2020 2.Municipal Check Number 3.Check date 30929 7/6/2020 4.State Check Number 5.Check date Solitude Lake Management 6.Payor name on check:First Name 7.Payor name on check:Last Name wpaform3.doc•rev.2/8/2018 Page 8 of 9 - 4 ` Massachusetts Department of Environmental Protection Provided byMassDEP: Bureau of Resource Protection ^Wetlands K�0���� ����0~R�� "� Notice � Intent ��0-�� Form �� ~- "v���U��� ��u er K8assachUse�s\8/eMaAds �»MofectioOAct K8 {� [ c 131 @�� - - -- -----����-�-- __NoLth Andover F. Signatures and Submittal Requirements I hereby certify underthe penalties nf perjury that the foregoing Notice of Intent andeouomponying p|anu, documents, and supporting data are true and complete tothe best mfmy knowledge, | understand that the Conservation Commission will place notification of this Notice in a local newspaperatthe expense of the applicant in accordance with the wetlands regulations, 310 CMR 1 0,05(5)(a). |further certify under penalties mfperjury that all abutters were notified cf this application, pursuant to the requirements ofN1.G.L.c. 131. §4O. Notice must he made by Certificate of Mailing orin writing bv hand delivery or certified mail(return receipt requested)to all abutters within 100 feet of the property line of the project location. �~- \ ll 06/30/2020 For Conservation Commission: Two copies ofthe completedNoUcenf[ntent(Fonn3)' indudin up rtingp/anmanddocumen(s. two copies of the NO|Wetland Fee Transmittal Form,and the city/town fee poymmnt, to the Conservation Commission by certified mail or hand delivery, FmrKOassIDEP: One copy of the completed Notice of Intent(Form 3), including supporting plans and documenta, one copy uf the NO|Wetland Fee Transmittal Form, and a copy of the state fee payment to the MassDEP Regional Office(see Instructions)by certified mail or hand delivery. Other If the applicant has checked the"yes"box in any part of Section C. Item 3, above. refer to that section and the Instructions for additional submittal requirements. The original and copies must be eerd uimultanaouo|y. Failure by the applicant to send copies in a timely manner may result in dismissal of the Notice ofIntent, Massachusetts Department of Environmental Protection Provided xymassosp: Bureau Vf Resource Protection - Wetlands MassDEP File Number ������� �����~�� *� N���^ � Intent ��U��� N-~=° "�" "� �� o�~°�N��� ��" Document Transaction Number Appendix A: Ecological Restoration Limited Project � Checklists �«� North Andover n ������ "�uu���mU�^� oityrrown Massachusetts Wetlands Protection Act M.G.L. c. 131, Eligibility Checklist This Ecological Restoration Limited Project Eligibility Checklist guides the applicant in determining if their project ia eligible ho file osan Inland or Coastal Ecological Restoration Limited Project (310 CN1R 10.53(4) or31O CK8R 10.24(8) respectively). These criteria must be met when submitting the Ecological Restoration Limited Project Nohoeof|ntentboeneurethatthereohonaUonondimprovement of the natural capacity of a Resource Area(s)to protect and sustain the interests identified in the WPA ia necessary ho achieve the pnojeot'e ecological restoration goals. Important: When filling out Regulatory Features of All Coastal and Inland Ecological Restoration Limited Projects forms onthe computer,use only � m| the tab w (e) : An Ecological m move your Restoration Limited Pnojec hhatmoa�there�uiren�e�aof31OCN1R1O24(8) moyremu|tin8le c"mm unnm ' � use the return temporary or permanent loss of Resource Areas and/or the conversion of one Resource Area to key. another when such loss is necessary to the achievement of the project's ecological restoration goals. &I (b) ANO|for an Ecological Restoration Limited Project that meets the minimum requirements for Ecological Restoration Projects and form [NaooDEP Combined Application outlined in 310 CIVIR 10.12(l)and (2) is exempt from providing a wildlife habitat evaluation (310CN1R10.60). Note: (c) The following are considerations for applicants filing an Ecological Restoration Limited Project NOI Before and for the issuing authority approving a project as an Ecological Restoration Limited Project: completing this form consult your The condition of existing and historic Resource Areas proposed for restoration. moa| -- C^»»vwaU«» Evidence ofthe extent and severity of the impairment(o) that reduce the capacity of the Reenume Commission -- regarding any Areas to protect and sustain the interests identified in M.G.L. u. 131. §4O. municipal bylaw �� The magnitude and aigni�oanoeof the beneDiaof the Ecological Restoration Fn�ectinimproving or ordinance. ~~ the capacity of the affected Resource Areas to protect and sustain the other interests identified in N1.G.Lo. 131. Q4O. Z The magnitude and significance of the impacts of the Ecological Restoration Project on existing Resource Areas that may be modified, converted and/or lost and the interests for which said Resource Areas are presumed significant in 310 CIVIR 10.00, and the extent to which the project will: a. avoid adverse impacts to Resource Areas and the interests identified in M.G.L. c. 131, §40, that can be avoided without impeding the achievement of the project's ecological restoration goals. b. minimize adverse impacts to Resource Areas and the interests identified in M.G.L. c. 131, § 40, that are necessary to the achievement of the project's ecological restoration goals. o. utilize best management practices such as erosion and siltation controls and proper construction sequencing to avoid and minimize adverse construction impacts to resource areas and the interests identified inN1.G.Lu. 131, §4O. ""upp".o"" -rev 218o018 Notice u Intent Appendix x.Ecological Restoration Limited Project Eligibility Checklists' Massachusetts Department of Environmental Protection Provided by MassDEP: Bureau of Resource Protection - Wetlands MassDEP File Number WPA Form 3 — Notice of Intent Document Transaction Number Appendix A: Ecological Restoration Limited Project Checklists North Andover City/Town Massachusetts Wetlands Protection Act M.G.L. c. 131, §40 Eligibility Criteria - Coastal Ecological Restoration Limited Projects (310 CMR 10.24(8)) Complete this Eligibility Criteria Checklist before filling out a Notice of Intent Application to determine if your project qualifies as a Coastal Ecological Restoration Limited Project. (310 CMR 10.24(8)) Sign the Eligibility Certification at the end of Appendix A, and attach the checklist with supporting documentation and the Eligibility Certification to your Notice of Intent Application. General Eligibility Criteria for All Coastal Ecological Restoration Limited Projects Notwithstanding the requirements of 310 CMR 10.25 through 10.35, 310 CMR 10.54 through 10.58, and the Wildlife Habitat evaluations in 310 CMR 10.60, the Issuing Authority may issue an Order of Conditions permitting an Ecological Restoration Project listed in 310 CMR 10.24(8)(e)as an Ecological Restoration Limited Project and impose such conditions as will contribute to the interests identified in the WPA M.G.L. provided that the project meets all the requirements in 310 CMR 10.24 (8). ❑ The project is an Ecological Restoration Project as defined in 310 CMR 10.04 and is a project type listed below[310 CMR 10.24(8)(e)j. ❑ Tidal Restoration. ❑ Shellfish Habitat Restoration. ❑ Other Ecological Restoration Limited Project Type. ❑ The project will further at least one of the WPA(M.G.L. c. 131, §40) interests identified below. ❑ Protection of public or private water supply. ❑ Protection of ground water supply. ❑ Flood control. ❑ Storm damage prevention. ❑ Prevention of pollution. ❑ Protection of land containing shellfish. ❑ Protection of fisheries. ❑ Protection of wildlife habitat. ❑ If the project will impact an area located within estimated habitat which is indicated on the most recent Estimated Habitat Map of State-Listed Rare Wetlands, a NHESP preliminary written determination is attached to the NOI submittal that the project will not have any adverse long-term and short-term effects on specified habitat sites of Rare Species or the project will be carried out in accordance with an approved NHESP habitat management plan. noiappa.doc •rev 2/8/2018 Notice of Intent Appendix A:Ecological Restoration Limited Project Eligibility Checklists- Page 2 of 16 Massachusetts Department of Environmental Protection Provided by MassDEP: Bureau of Resource Protection - Wetlands MassDEP File Number WPA Form 3 — Notice of Intent Document Transaction Number LLI Appendix A: Ecological Restoration Limited Project Checklists Northl Yow ndover Massachusetts Wetlands Protection Act M.G.L. c. 131, §40 Eligibility Criteria - Coastal Ecological Restoration Limited Projects (310 CMR 10.24(8)) (Cont.) General Eligibility Criteria for All Coastal Ecological Restoration Limited Projects (cont.) ❑ If the project is located in a Coastal Dune or Barrier Beach, the project avoids and minimizes armoring of the Coastal Dune or Barrier Beach to the maximum extent practicable. ❑ The project complies with all applicable provisions of 310 CMR 10.24(1) through (6) and 310 CMR 10.24(9) and (10). Additional Eligibility Criteria for Specific Coastal Ecological Restoration Limited Project Types These additional criteria must be met to qualify as an Ecological Restoration Limited Project to ensure that the restoration and improvement of the natural capacity of a Resource Area to protect and sustain the interests identified in the WPA is necessary to achieve the project's ecological restoration goals. ❑ This Ecological Restoration Limited Project application meets the eligibility criteria for Ecological Restoration Limited Project[310 CMR 10.24(8)(a) through (d)and as proposed, furthers at least one of the WPA interests is for the project type identified below. ❑ Tidal Restoration Projects ❑ A project to restore tidal flow that will not significantly increase flooding or storm damage impacts to the built environment, including without limitation, buildings, wells, septic systems, roads or other man-made structures or infrastructure. ❑ Shellfish Habitat Restoration Projects ❑ The project has received a Special Projects Permit from the Division of Marine Fisheries or, if a municipality, has received a shellfish propagation permit. ❑ The project is made of cultch (e.g., shellfish shells from oyster, surf or ocean clam) or is a structure manufactured specifically for shellfish enhancement(e.g., reef blocks, reef balls, racks, floats, rafts, suspended gear). ❑ Other Ecological Restoration Projects that meet the criteria set forth in 310 CMR 10.24(8)(a) through (d). ❑ Restoration, enhancement, or management of Rare Species habitat. ❑ Restoration of hydrologic and habitat connectivity. ❑ Removal of aquatic nuisance vegetation to impede eutrophication. ❑ Thinning or planting of vegetation to improve habitat value. ❑ Fill removal and re-grading. ❑ Riparian corridor re-naturalization. ❑ River floodplain re-connection. noiappa.doc•rev 2/8/2018 Notice of Intent Appendix A:Ecological Restoration Limited Project Eligibility Checklists Page 3 of 16 Massachusetts Department of Environmental Protection Provided by MassDEP: Bureau of Resource Protection - Wetlands MassDEP File Number WPA Form 3 — Notice of Intent Document Transaction Number Appendix A: Ecological Restoration Limited Project Checklists North Andover City/Town Massachusetts Wetlands Protection Act M.G.L. c. 131, §40 Eligibility Criteria - Coastal Ecological Restoration Limited Projects (310 CMR 10.24(8)) (Cont.) Additional Eligibility Criteria for Specific Coastal Ecological Restoration Limited Project Types ❑ In-stream habitat enhancement. ❑ Remediation of historic tidal wetland ditching. ❑ Eelgrass restoration. ❑ Invasive species management. ❑ Installation of fish passage structures. ❑ Other. Describe: ❑ This project involves the construction, repair, replacement or expansion of public or private infrastructure (310 CMR 10.24(9). ❑ The NO[ attachment labeled is an operation and maintenance plan to ensure that the infrastructure will continue to function as designed. ❑ The operation and maintenance plan will be implemented as a continuing condition in the Order of Conditions and the Certificate of Compliance. ❑ This project proposes to replace an existing stream crossing (310 CMR 10.24(10). The crossing complies with the Massachusetts Stream Crossing Standards to the maximum extent practicable with details provided in the NOI. The crossing type: ❑ Replaces an existing non-tidal crossing that is part of an Anadromous/Catadromous Fish Run (310 CMR 10.35) ❑ Replaces an existing tidal crossing that restricts tidal flow. The tidal restriction will be eliminated to the maximum extent practicable. ❑ At a minimum, in evaluating the potential to comply with the standards to the maximum extent practicable the following criteria have been consider site constraints in meeting the standard, undesirable effects or risk in meeting the standard, and the environmental benefit of meeting the standard compared to the cost, by evaluating the following: ❑ The potential for downstream flooding; ❑ Upstream and downstream habitat(in-stream habitat,wetlands); ❑ Potential for erosion and head-cutting; ❑ Stream stability; ❑ Habitat fragmentation caused by the crossing; ❑ The amount of stream mileage made accessible by the improvements; ❑ Storm flow conveyance; noiappa.doc•rev 2/8/2018 Notice of Intent Appendix A:Ecological Restoration Limited Project Eligibility Checklists Page 4 of 16 Massachusetts Department of Environmental Protection Provided by MassDEP: Bureau of Resource Protection - Wetlands MassDEP File Number WPA Form 3 — Notice of Intent Document Transaction Number Appendix A: Ecological Restoration Limited orth Project Checklists Ciy/Townndoyer Massachusetts Wetlands Protection Act M.G.L. c. 131, §40 Eligibility Criteria - Coastal Ecological Restoration Limited Projects (310 CMR 10.24(8)) (Cont.) Additional Eligibility Criteria for Specific Coastal Ecological Restoration Limited Project Types ❑ Engineering design constraints specific to the crossing; ❑ Hydrologic constraints specific to the crossing; ❑ Impacts to wetlands that would occur by improving the crossing; ❑ Potential to affect property and infrastructure; and ❑ Cost of replacement. Eligibility Criteria - Inland Ecological Restoration Limited Project (310 CMR 10.53(4)) Complete this Eligibility Criteria Checklist before filling out a Notice of Intent Application to determine if your project qualifies as an Inland Ecological Restoration Limited Project. (310 CMR 10.53(4)) Sign the Eligibility Certification at the end of Appendix A, and attach the checklist with supporting documentation and the Eligibility Certification to your Notice of Intent Application. General Eligibility Criteria for All Inland Ecological Restoration Limited Projects Notwithstanding the requirements of any other provision of 310 CMR 10.25 through 10.35, 310 CMR 10.54 through 10.58, and 310 CMR 10.60, the Issuing Authority may issue an Order of Conditions permitting an Ecological Restoration Project listed in 310 CMR 10.53(4)(e) as an Ecological Restoration Limited Project and impose such conditions as will contribute to the interests identified in M.G.L. c. 131, §40, provided that: ® The project is an Ecological Restoration Project as defined in 310 CMR 10.04 and is a project type listed below[310 CMR 10.53(4)(e)]. ❑ Dam Removal ❑ Freshwater Stream Crossing Repair and Replacement ❑ Stream Daylighting ❑ Tidal Restoration ❑ Rare Species Habitat Restoration ❑ Restoring Fish Passageways ® the removal of aquatic nuisance Other(describe project type): vegetation to retard pond and lake eutrophication noiappa.doc •rev 2/8/2018 Notice of Intent Appendix A:Ecological Restoration Limited Project Eligibility Checklists Page 5 of 16 Massachusetts Department of Environmental Protection Provided by MassDEP: Bureau of Resource Protection - Wetlands MassDEP File Number PA Form 3 — Notice of Intent Document Transaction Number Appendix A: Ecological Restoration Limited Project Checklists North Andover City/Town Massachusetts Wetlands Protection Act M.G.L. c. 131, §40 Eligibility Criteria - Inland Ecological Restoration Limited Project (310 CMR 10.53(4)) (cont.) General Eligibility Criteria for All Inland Ecological Restoration Limited Projects ® The project will further at least one of the WPA (M.G.L. c. 131, §40) interests identified below. ® Protection of public or private water supply ® Protection of ground water supply ® Flood control ® Storm damage prevention ® Prevention of pollution ® Protection of land containing shellfish ® Protection of fisheries ® Protection of wildlife habitat ❑ If the project will impact an area located within estimated habitat which is indicated on the most recent Estimated Habitat Map of State-Listed Rare Wetlands, a NHESP preliminary written determination is attached to the NO[ submittal that the project will have no adverse long-term and short-term effects on specified habitat sites of Rare Species or the project will be carried out in accordance with an approved NHESP habitat management plan. ❑ The project will be carried out in accordance with any time of year restrictions or other conditions recommended by the Division of Marine Fisheries for coastal waters and the Division of Fisheries and Wildlife in accordance with 310 CMR 10.11(3). ❑ If the project involves the dredging of 100 cubic yards of sediment or more or dredging of any amount in an Outstanding Resource Water, a Water Quality Certification has been applied for or obtained. ® The project complies with all applicable provisions of 310 CMR 10.53(1), (2), (7), and (8). noiappa.doc•rev 2/8/2018 Notice of Intent Appendix A:Ecological Restoration Limited Project Eligibility Checklists Page 6 of 16 Massachusetts Department of Environmental Protection Provided by MassDEP: Bureau of Resource Protection - Wetlands MassDEP File Number L��'J WPA Form 3 - Notice of Intent Document Transaction Number Appendix A: Ecological Restoration Limited Project Checklists No ndover Massachusetts Wetlands Protection Act M.G.L. c. 131, §40 Eligibility Criteria - Inland Ecological Restoration Limited Project (310 CMR 10.53(4)) (cont.) Additional Eligibility Criteria for Specific Inland Ecological Restoration Limited Project Types These additional criteria must be met to qualify as an Ecological Restoration Limited Project to ensure that the restoration and improvement of the natural capacity of a Resource Area to protect and sustain the interests identified in the WPA is necessary to achieve the project's ecological restoration goals. ❑ This project application meets the eligibility criteria for Ecological Restoration Limited Project in accordance with [310 CMR 10.53(4)(a)through (d)and as proposed, furthers at least one of the WPA interests is for the project type identified below: ❑ Dam Removal ❑ Project is consistent with MassDEP's 2007 Dam Removal Guidance. ❑ Freshwater Stream Crossing Repair and Replacement. The project as proposed and the NOI describes how: ❑ Meeting the eligibility criteria set forth in 310 CMR 10.13 would result in significant stream instability or flooding hazard that cannot otherwise be mitigated, and site constraints make it impossible to meet said criteria. ❑ The project design ensures that the stability of the bank is NOT impaired. ❑ To the maximum extent practicable, the project provides for the restoration of the stream upstream and downstream of the structure as needed to restore stream continuity and eliminate barriers to aquatic organism movement. ❑ The project complies with the requirements of 310 CMR 10.53(7) and (8). ❑ Stream Daylighting Projects ❑ The project meets the eligibility criteria for Ecological Restoration Limited Project[310 CMR 10.53(4)(a)through (d)] and as proposed the NOI describes how the proposed project meets to the maximum extent practicable, consistent with the project's ecological restoration goals, all the performance standards for Bank and Land Under Water Bodies and Waterways. ❑ The project meets the requirements of 310 CMR 10.12(1) and (2) and a wildlife habitat evaluation is not included in the NOI. ❑ Tidal Restoration Project ❑ Restores tidal flow. ❑ the project, including any proposed flood mitigation measures, will not significantly increase flooding or storm damage to the built environment, including without limitation, buildings, wells, septic systems, roads or other man-made structures or infrastructure. noiappa.doc •rev 2/8/2018 Notice of Intent Appendix A:Ecological Restoration Limited Project Eligibility Checklists Page 7 of 16 lMassachusetts Department of Environmental Protection Provided by MassDEP: Bureau of Resource Protection - Wetlands MassDEP File Number PA Form 3 — Notice of Intent Appendix A: Ecological Restoration Limited Document Transaction Number Pro ect Checklists North Andover J City/Town Massachusetts Wetlands Protection Act M.G.L. c. 131, §40 Eligibility Criteria - Inland Ecological Restoration Limited Project (310 CMR 10.53(4)) (cont.) ® Other Ecological Restoration Projects that meet the criteria set forth in 310 CMR 10.53 (4) (a) through (d). ❑ Restoration, enhancement, or management of Rare Species habitat. ❑ Restoration of hydrologic and habitat connectivity. ® Removal of aquatic nuisance vegetation to impede eutrophication. ❑ Thinning or planting of vegetation to improve habitat value. ❑ Riparian corridor re-naturalization. ❑ River floodplain re-connection. ❑ In-stream habitat enhancement. ❑ Fill removal and re-grading. ❑ Flow restoration. ❑ Installation of fish passage structures. ® Invasive species management. ❑ Other. Describe: ❑ This project involves the construction, repair, replacement or expansion of public or private infrastructure. (310 CMR 10.53(7)) ❑ The NOI attachment labeled is an operation and maintenance plan to ensure that the infrastructure will continue to function as designed. ❑ The operation and maintenance plan will be implemented as a continuing condition in the Order of Conditions and the Certificate of Compliance. ❑ This project replaces an existing stream crossing (310 CMR 10.53(8)). The crossing type: ❑ Replaces an existing non-tidal crossing designed to comply with the Massachusetts Stream Crossing Standards to the maximum extent practicable with details provided in the NOI. ❑ Replaces an existing tidal crossing that restricts tidal flow. The tidal restriction will be eliminated to the maximum extent practicable. noiappa.doc •rev 2/8/2018 Notice of Intent Appendix A:Ecological Restoration Limited Project Eligibility Checklists Page 8 of 16 Provided by MassDEP: Massachusetts Department of Environmental Protection Bureau of Resource Protection - Wetlands MassDEP File Number WPA Form 3 — Notice of Intent Document Transaction Number Appendix A: Ecological Restoration Limited Project Checklists No ndover Massachusetts Wetlands Protection Act M.G.L. c. 131, §40 Eligibility Criteria - Inland Ecological Restoration Limited Project (310 CMR 10.53(4)) (cont.) ❑ At a minimum, in evaluating the potential to comply with the standards to the maximum extent practicable the following criteria have been consider site constraints in meeting the standard, undesirable effects or risk in meeting the standard, and the environmental benefit of meeting the standard compared to the cost, by evaluating the following: ❑ The potential for downstream flooding; ❑ Upstream and downstream habitat(in-stream habitat, wetlands); ❑ Potential for erosion and head-cutting; ❑ Stream stability; ❑ Habitat fragmentation caused by the crossing; ❑ The amount of stream mileage made accessible by the improvements; ❑ Storm flow conveyance; ❑ Engineering design constraints specific to the crossing; ❑ Hydrologic constraints specific to the crossing; ❑ Impacts to wetlands that would occur by improving the crossing; ❑ Potential to affect property and infrastructure; and ❑ Cost of replacement. noiappa.doc •rev 2/8/2018 Notice of Intent Appendix A:Ecological Restoration Limited Project Eligibility Checklists Page 9 of 16 Massachusetts Department of Environmental Protection Provided by MassDEP: LlBureau of Resource Protection - Wetlands MassDEP File Number WPA Form 3 - Notice of Intent Document Transaction Number Appendix A: Ecological Restoration Limited rth A Project Checklists C Nioty/Town ndover Massachusetts Wetlands Protection Act M.G.L. c. 131, §40 Required Actions (310 CMR 10.11) Complete the Required Actions before submitting a Notice of Intent Application for an Ecological Restoration Project and submit a completed copy of this Checklist with the Notice of Intent. F-1 Massachusetts Environmental Policy Act(MEPA)/Environmental Monitor htlp,L/mN—w�01 g ggy!@ pjq��, .Lqp(ici sryeTa/submiui -.notices-.to.�Uie-er�vit-orin�ierita�-�r-r or'uitor W,�ti'T'an i-L 2— ........................ For Ecological Restoration Limited Projects, there are no changes to MEPA requirements. Submit written notification at least 14 days prior to the filing of a Notice of Intent(NOI)to the Environmental Monitor for publication. A copy of the written notification is attached and provides at minimum: Z A brief description of the proposed project. Z The anticipated NOI submission date to the conservation commission. Z The name and address of the conservation commission that will review the NOI. Z Specific details as to where copies of the NOI may be examined or acquired and where to obtain the date, time, and location of the public hearing. ❑ Massachusetts Endangered Species Act(MESA)[Wetlands Protection Act Review ❑ Preliminary Massachusetts Endangered Species Act Review from the Natural Heritage and Endangered Species Program (NHESP) has been met and the written determination is attached. ❑ Supplemental Information for Endangered Species Review has been submitted. 1. F1 Percentage/acreage of property to be altered: a. Within Wetland Resource Area Percentage/acreage b. Outside Wetland Resource Area Percentage/acreage 2. [:1 Assessor's Map or right-of-way plan of site 3. ❑ Project plans for entire project site, including wetland resource areas and areas outside of wetlands jurisdiction, showing existing and proposed conditions, existing and proposed tree/vegetation clearing line, and clearly demarcated limits of work. 4. F Project description (including description of impacts outside of wetland resource area & buffer zone) 5. ❑ Photographs representative of the site 6. ❑ MESA filing fee (fee information available at . ggy�dfwele/dfw/nhe a[1 rqgqqtgjy reviewhriesah-nesa fee schedule,htrn) ...........--...... noiappa.doc rev 2/812018 Notice of Intent Appendix A:Ecological Restoration Limited Project Eligibility Checklists- Page 10 of 16 Massachusetts Department of ��nvim0nNNental �»rotec�«�n pmvmm uy�a�o�p� BUPS8u of Resource ProtectioO - Wedl@nds Vlonaorp File Number ������� �����°N�� "� ��x��~ � Intent V0l�0—�� Form �� �� n�~°~U���� ��m Appendix A: Ecological Restoration Limited Project � ��U�Checklists North Andover n ������� `�""����mU���� City/Town MassachusettsWetlands Required Actions (310 CMR 10.11) (cont.) Make check payable to"Commonwealth of Massachusetts- NHE8P"ond mail to NHESP: Natural Heritage & Endangered Species Program MA Division of Fisheries &VW|d|ife 1 Rabbit Hill Road VVeotbovough, YNAO1G81 7. Projects altering 1Oor more acres nf land, also submit: a. Fl Vegetation cover type map ofsite b. [] Project plans showing Priority& Estimated Habitat boundaries Following:OR Check One of the 1. Z Project is exempt from MESA review. Attach applicant letter indicating which MESA exemption applies. (Gee331 CN1R 10.14. � thmNO| muotutiUbaoenttoNHESPif the project inwithin estimated habitat pursuant ho31OCPNR1O.37 and 10.5S—see C4below) 2. E:1 Separate MESA review ongoing. a.mHsSP Tracking# b. Date submitted mNHESP 3. F-1 Separate MESA review completed. Include copy of NHESP"no Take"determination or valid Conservation & Management Permit with approved plan. F� Estimated Habitat Map ofState-Listed Rare Wetlands Wildlife If a portion of the proposed project is located in Estimated Habitat of Rare Wildlife as indicated on the most recent Estimated Habitat Map of State-Listed Rare Wetland Wildlife published by the Natural Heritage and Endangered Species Program (NHEGP), complete the portion below. To view habitat maps, see the Massachusetts Natural Heritage Atlas or view the maps electronically at: [] A preliminary written determination from Natural Heritage and Endangered Species Program (NHESP) must beobtained indicating that: L] Project will NOT have long-or short-term adverse effect on the actual Resource Area located within estimated habitat indicated on the most recent Estimated Habitat Map of State-Listed Rare Wetlands Wildlife published by NHESP. F1 Project will have long-or short-term adverse effect on the actual Resource Area located within estimated habitat indicated on the most recent Estimated Habitat Map of State- Listed Rare Wetlands Wildlife published by NHESP. Aoopy of NHEGP'evvritten preliminary determination in accordance with 310 CMR 10.11(2) is attached. This specifies: L1 Date of the map: n"/oppa^"" 'mvnvoom Notice m Intent Appendix A.Ecological Restoration Limited Project Eligibility Checklists' ' Massachusetts Department of Environmental Protection Provided hyMossocp: - Bureau nf Resource Protection - Wetlands MassDEP File Number ���8��� �������� w� Notice � Intent ��V��� �-=~° "." �� '� n����D�� ��x Document Transaction Number Appendix A: Ecological Restoration Limited North Andover Project � Checklists �� n �K������� ��"m����x�xU���� '--' ---'- Massachusetts Wetlands Protection Act M.G.L. c. 131 Required Actions (310 CMR 10.11) (cont.) [] If the Rare Species identified is/are likely to continue to be located on or near the project, and if so, whether the Resource Area bxbe altered isin fact part of the habitat of the Rare Species. �l That if the project alters Resource Area(o)within the habitat ofa Rare Species: �] The Rare Species isidentified; �l NHESP's recommended changes or conditions necessary to ensure that the project will have no short or long term adverse effect on the habitat of the local population of the Rare Species io provided; or An approved NHESP habitat management plan is attached with this Notice of Intent. Send the request for m preliminary determination to: Natural Heritage & Endangered Species Program MA Division of Fisheries &N0|d|ihe 1 Rabbit Hill Road Westborough, KAAO1S81 Division of Marine Fisheries El If the project will occur within a coastal waterbody with a restricted Time of Year, [see Appendix B of the Division of Marine Fisheries (DMF)Technical Report TR 47"Marine Fisheries Time of Year Restrictions (TOYs)for Coastal Alteration Projects"dated April 2011 aq— [] Obbn|na DK8Fvvritten determination stating: [] The proposed work does NOT require a TOY restriction. El The proposed work requires a TOY restriction. Specific recommended TOY restriction and recommended conditions on the proposed work imattached. [l If the project may affect a diadromous fish run [re: Division of Marine Fisheries (DMF) Technical Reports TR15 through 18. dated 2OO4: Obtain a DYWFvvhMen determination stating: / El The design specifications and operational plan for the project are compatible with the passage requirements of the fish run. El The design specifications and operational plan for the project are not compatible with the passage requirements of the fish run. � � ' noiavpa.m* 'rev ov/2xv Notice m Intent Appendix A:Ecological Restoration Limited project Eligibility Checklists- Massachusetts Department of Environmental Protection Provided uymmaoeP: Bureau Of Resource Protection - Wetlands MassDEP File Number ��0���� �������� ^� Notice � Intent ��U��� N—.=" °°� .� ~� u����U��� ��" Appendix A: Ecological Restoration Limited Project � ��&m Checklists North Andover n ��N����� ��no����m�uD���� City/Town Massachusetts Wetlands Protection Act M.G.L. c. 131 Required Actions (310 CMR 10~11) (cont.) Send the request for a written or electronic determination . South Shore—Cohaaeettu Rhode Island border, North Shore—Hull bo New Hampshire border: and the Cape & Islands: Division of Marine Fisheries— DivieionofMarineFioherieo— South Coast Field Station North Shore Field Station Attn: Environmental Reviewer Attn: Environmental Reviewer 836 South Rodney French Blvd. 30 Emerson Avenue New 8edfovd, MA 02744 G|ouneoter, MA 01830 Email: Email: F] Division of Fisheries and Wildlife— El Projects that involve silt-generating, in-water work that will impact a non-tidal perennial river or stream and the in-water work will not occur between May 1 and August 3O. F-1 Obtain a written determination from the Division of Fisheries and Wildlife(DFW) as to whether the proposed work requires aTOY restriction. 1771 The proposed work does NOT require a TOY restriction. El The proposed work requires a TOY restriction. The DFVV determination with TOY restriction and other conditions ioattached. El 00mmoDEPVVater Quality Certification Fl Project involves dredging of 100 cubic yards or more in a Resource Area or dredging of any amount in an Outstanding Resource Water (ORW).A copy and proof of the MassDEP Water Quality Certification pursuant to314CN1RA.00io attached to the N0L Fl This project is a Combined Permit Application for 401 Dredging and Restoration (BRp VVVV2G). K8mss0EPVVod|mnde Restriction Order Is any portion of the site subject to a Wetlands Restriction Order under the Inland Wetlands Restriction Act(N1.G.Lo. 131. §4UA)or the Coastal Wetlands Restriction Act(yW.G.Lc. 130. § 105)? Fl Yes F1 No Fl Department of Conservation and Recreation Office mfDam Safety �l For Dam Removal Pnojeoha, obtain am/rithen determination from the Department ofConservation and Recreation Office of Dam Safety that the dam is not subject to the jurisdiction of the Office under 302 CIVIR 10.00, a written determination that the dam removal does not require a permit under 302 CIVIR 10.00 or a permit authorizing the dam removal in accordance with 302 CIVIR 10.00 has been issued. o°/"pp".00c 'm.mouo,v Notice m Intent Appendix x:Ecological Restoration Limited Project Eligibility Checklists` Page mm1n Massachusetts Department of Environmental Protection Provided by MassDEP: ILI I Bureau of Resource Protection - Wetlands MassDEP File Number WPA Form 3 — Notice of Intent Document Transaction Number Appendix A: Ecological Restoration Limited Project Checklists North Andover City/Town Massachusetts Wetlands Protection Act M.G.L. c. 131, §40 Required Actions (310 CMR 10.11) (cont.) Areas of Critical Environmental Concern (ACECs) Is any portion of the proposed project within an Area of Critical Environmental Concern (ACEC)? ❑ Yes ® No If yes, provide name of ACEC (see instructions to WPA Form 3 or MassDEP Website for ACEC locations). Name of ACEC Minimum Required Documents (310 CMR 10.12) Complete the Required Documents Checklist below and provide supporting materials before submitting a Notice of Intent Application for an Ecological Restoration Project. M This Notice of Intent meets all applicable requirements outlined in for Ecological Restoration Projects in 310 CMR 10.12. Use the checklist below to insure that all documentation is included with the NOI. At a minimum, a Notice of Intent for an Ecological Restoration Project shall include the following: ® Description of the project's ecological restoration goals; ® The location of the Ecological Restoration Project; ® Description of the construction sequence for completing the project; M A map of the Areas Subject to Protection Under M.G.L. c. 131, §40, that will be temporarily or permanently altered by the project or include habitat for Rare Species, Habitat of Potential Regional and Statewide Importance, eel grass beds, or Shellfish Suitability Areas. M The method for BVW and other resource area boundary delineations (MassDEP BVW Field Data Form(s), Determination of Applicability, Order of Resource Area Delineation, etc.) is attached with documentation methodology. ® List the titles and dates for all plans and other materials submitted with this NOI. Figures 1-6 attached to Notice of Intent a.Plan Title DeRosa Environmental Consulting b.Prepared by c.Signed and Stamped by July 9 2020 d.Final Revision Date e.Scale f.Additional Plan or Document Title g.Date ® If there is more than one property owner, attach a list of these property owners not listed on this form. ® Attach NOI Wetland Fee Transmittal Form. noiappa.doc •rev 2/8/2018 Notice of Intent Appendix A:Ecological Restoration Limited Project Eligibility Checklists Page 14 of 16 Massachusetts Department of Environmental Protection Provided by MassDEP: LBureau of Resource Protection - Wetlands MassDEP File Number ki PA Form 3 — Notice of Intent Appendix A: Ecological Restoration Limited Document Transaction Number Pro ect Checklists North Andover 1 City/Town Massachusetts Wetlands Protection Act M.G.L. c. 131, §40 Minimum Required Documents (310 CMR 10.12) ® An evaluation of any flood impacts that may affect the built environment, including without limitation, buildings, wells, septic systems, roads or other man-made structures or infrastructure as well as any proposed flood impact mitigation measures; ® A plan for invasive species prevention and control; ❑ The Natural Heritage and Endangered Species Program written determination in accordance with 310 CMR 10.11(2), if needed; ❑ Any Time of Year restrictions and/or other conditions recommended by the Division of Marine Fisheries or the Division of Fisheries and Wildlife in accordance with 310 CMR 10.11(3), (4), (5), if needed; ® Proof that notice was published in the Environmental Monitor as required by 310 CMR 10.11(1; ® A certification by the applicant under the penalties of perjury that the project meets the eligibility criteria set forth in 310 CMR 10.13; ❑ If the Ecological Restoration Project involves the construction, repair, replacement or expansion of infrastructure, an operation and maintenance plan to ensure that the infrastructure will continue to function as designed; ❑ If the project involves dredging of 100 cubic yards or more or dredging of any amount in an Outstanding Resource Water, a Water Quality Certification issued by the Department pursuant to 314 CMR 9.00; ❑ If the Ecological Restoration Project involves work on a stream crossing, information sufficient to make the showing required by 310 CMR 10.24(10)for work in a coastal resource area and 310 CMR 10.53(8)for work in an inland resource area; and ❑ If the Ecological Restoration Project involves work on a stream crossing, baseline photo-points that capture longitudinal views of the crossing inlet, the crossing outlet and the upstream and downstream channel beds during low flow conditions. The latitude and longitude coordinates of the photo-points shall be included in the baseline data. ❑ This project is subject to provisions of the MassDEP Stormwater Management Standards. A copy of the Stormwater Report as required by the Stormwater Management Standards per 310 CMR 10.05(6)(k)-(q) is attached. ® Provide information as the whether the project has the potential to impact private water supply wells including agricultural or aquacultural wells or surface water withdrawal points. noiappa.doc•rev 2/8/2018 Notice of Intent Appendix A:Ecological Restoration Limited Project Eligibility Checklists Page 15 of 16 Massachusetts Department of Environmental Protection Provided by MassDEP.* Bureau of Resource Protection - Wetlands MassDEP File Number WPA Form 3 — Notice of Intent Document Transaction Number Ll Appendix A: Ecological Restoration Limited orth Project Checklists Cityrrowndover Massachusetts Wetlands Protection Act M.G.L. c. 131, §40 Certification that the Ecological Restoration Project Meets the Eligibility Criteria I hereby certify under penalties of perjury that the Ecological Restoration Project Notice of Intent application does not meet the Eligibility criteria for an Ecological Restoration Order of Conditions set forth in 310 CMR 10.13, but does meet the Eligibility Criteria for a Ecological Restoration Limited Project set forth in 10.24(8)or 10.53(4)whichever is applicable. I certify that I am familiar with the information contained in the application, and that to the best of my knowledge and belief such information is true, complete, and accurate. I further certify that I possess the authority to undertake the proposed activities. 4<9v--_ Signature of Applicant or Authorized Agent Kara Sliwoski-SOLitude Lake Management 7/8/2020 Printed Name of Applicant or Authorized Agent Date The certification must be signed by the applicant; however, it may be signed by a duly authorized agent(named in Item 2) if this form is accompanied by a statement by the applicant designating the agent and agreeing to furnish upon request, supplemental information in support of the application. f noiappa.doc•rev 2/8/2018 Notice of Intent Appendix A:Ecological Restoration Limited Project Eligibility Checklists Page 16 of 16 Massachusetts Department of Environmental Protection Bureau Of Resource Protection - Wetlands ����U Wetland � Transmittal U � n�.�v m��mu��� Fee o ������U=�n Form K8@O88GhUGtdt8 VVHtl8DdS Protection Act M.G.L. C. 131. §40 A. Applicant Important-,When - - - -~ ~ — - Information -- filling out forms onmo computer, 1. Location ofProject: use only the tab key to move your East Mill yNU| Pond North Andover uumv -oonm a.Street Address b.CUy/Town use the return key. $165.00 c.Check number d.Fee amount 2. Applicant Mailing Address: David Steinbergh a.First Name u.Last Name RC8 North Andover Mills n.OrgonizuUon 17 Ivaloo Street, Suite 100 u.Mailing Address Somerville MA 02143 e.oi\y/Tvwn CStom g.Zip Code 617-825-8315 dsteinbergh@rcg-llc.com IT,Phone Number i.Fax Number j.Email Address 3. Property Owner(if different): a.First Name b.Last Name c.Organization u.Mailing Address n.oKy/Town f.State U.Zip Code IT,Phone Number I.Fax Number j.Email Address To calculate B. Fees filing�*x refer ~~~ ~ fee list and—'h---~—' Fee should bo calculated using the following process &vvodmheet. Please see Instructions before examples inthe filling out m/nrKaheet instructions for filling out YVpA Step liType of Activity: Describe each type of activity that will occur in wetland resource area and buffer zone. Form n(Notice nf Intent). Step 21Numbarof Activities: Identify the number of each type ufactivity. Step 3/lndividual Activity Fee:Identify each activity fee from the six project categories listed in the instructions. Step 4/Subtota|Activity Fee: Multiply the number of activities(identified in Step 2)times the fee per category (identified in Step 3)to reach a subtotal fee amount. Note: If any of these activities are in a Riverfront Area in addition to another Resource Area or the Buffer Zone, the fee per activity should be multiplied by 1.5 and then added tn the subtotal amount. Step 5/Total Project Fee: Determine the total project fee by adding the subtotal amounts from Step 4. Step 6/Fee Payments:To calculate the state share of the fee,divide the total fee in half and subtract$12.50. To calculate the city/town share of the fee,divide the total fee in half and add$12.60. noife"uwc'Welland Fee Transmittal Form'rev.1m11 Page 1m2 Massachusetts Department of Environmental Protection Bureau of Resource Protection - Wetlands NOI Wetland Fee Transmittal Form Massachusetts Wetlands Protection Act M.G.L. c. 131, §40 B. Fees (continued) Step 1/Type of Activity Step 2/Number Step Step 4/Subtotal Activity of Activities 3/individual Fee Activity Fee Category 1: c,d 1 1 110.00 RA multiplier 55.00 Step 5/Total Project Fee: 165.00 Step 6/Fee Payments: Total Project Fee: $165.00 a.Total Fee from Step 5 State share of filing Fee: $70.00 ___ b.1/2 Total Fee less$12.50 City/Town share of filling Fee: $95.00 c.1/2 Total Fee plus$12.50 C. Submittal Requirements a.) Complete pages 1 and 2 and send with a check or money order for the state share of the fee, payable to the Commonwealth of Massachusetts. Department of Environmental Protection Box 4062 Boston, MA 02211 b.) To the Conservation Commission: Send the Notice of Intent or Abbreviated Notice of Intent; a copy of this form; and the city/town fee payment. To MassDEP Regional Office(see Instructions): Send a copy of the Notice of Intent or Abbreviated Notice of Intent; a copy of this form; and a copy of the state fee payment. (E-filers of Notices of Intent may submit these electronically.) noifeetf.doc•Wetland Fee Transmittal Form•rev.10/11 Page 2 of 2 ACC WETLANDS FILING FEE CALCULATION WORKWORKS ' CATEGORY 1: $110 per Activity (NOI/RDA) #of Activities Total$ a.Work on single family lot;addition, pool, patio,shed, landscaping,etc. b.Site work without a house c.Control of nuisance vegetation on single family house lot 1 $110 d. Resource area improvement, other than control of nuisance vegetation e.Work on septic system separate from house f. Monitoring wel►activities minus roadway g. New agricultural or aquacultura► projects TOTAL CATEGORY 1 ... . ..... .. .... . . . . .. . . . .... . ....... . . . .. . . ........ $ 110 Add 50 percent if in a Riverfront Area in addition to another Resource Area/Buffer Zone x.5 ..... .. ............. ..... . . .... $ 165 CATEGORY 2: $500 per Activity (NOI/RDA) #of Activities Total$ a.Construction of single family house (SFH) b. Parking lot c. Beach nourishment(placement of sand) d. Electric generating facility activities e. Inland limited projects minus road crossings&agriculture f. Each crossing for driveway to single family house g. Each point source(storm drain)discharge h. Control nuisance vegetation other than for single family house lot I. Water level variation j,Any other activity not in Category 1,3,4,5,6 or 7 k.Water supply exploration TOTAL CATEGORY 2 . . . . .. . .. ...... . . . . .. . . . .... ......... . . .. . . . . . . . . .. $ Add 50 percent if in a Riverfront Area in addition to another Resource Area/Buffer Zone x.5 ..... . . .. . . . .. ... . .... .. . .... .. $ CATEGORY 3: $800 per Activity(NOI/RDA) #of Activities Total$ a. Site preparation (for development)where actual construction is not proposed b. Each building(for development) including site preparation c. Road construction not a limited project crossing or driveway d. Hazardous waste cleanup e.Water supply development TOTAL CATEGORY 3 . .. .... . . .. . ... . . . . .. . . . .... .... . ......... ......... $ Add 50 percent if in a Riverfront Area in addition to another Resource Area/Buffer Zone x.5 . .. .. . . .. . . . .. .. . . .. . . .. . . . . ... $ Page 1 of 2 � NACC WETLANDS FILING FEE CAL.01I.KnON WORKSHEE'r(mmililixed) ' CATEGONY4: $1,¢00 Activity(0OI/RDA) #ofActivities Total� a. Each limited project roadway crossing fordeve|opmenLorcommerda| road b. Flood Control Structure(da,s|uicevvay\tido8ate)work c. Landfi||soperation/dosures d.Sand Q gravel operations e. Railroad line construction f. Bridge(except for single family house lot) g. Hazardous waste alterations to resource area h. DredQing i. Package treatment plant&discharge j.Airport tree clearing k.Oil and hazardous material release response actions |.Activities associated with assessment,or response to release ofoil TOTAL CATEGORY 4 . .. ... ...... . ... ..'.''.. .... .. ,...... ,............. Add 5o percent if|na0|werfrmnt Area inaddition to another Resource Area/Buffer Zone x.5 . .. ................. ....... .. . . #ofFeet CATEGORYS: $4 per Linear Foot-Min of$10g,Nm Max(NQi/R0A) a.Work on docks,piers, revetments, dikes,etc. (coastal or inland) TOTAL CATEGORY 5 .^. ..'.'..... .. ...... .''.''. .....''. . .. ............ Add 5U percent|f|naRiverfrmnt Area|naddition tm another Resource Area/Buffer Zone w.5 . . . .......,... . . . . ..'. .. ... .... #ofFeet CATEGQRYG: $1 per Linear Foot-Minimum mf$100,NwMax a. Boundary delineations for Bordering Vegetated Wetlands TOTAL CATEGORY& ..' .'' . .... .......''.. . . .. . ^.'''.',............ .... Add 5O percent ifTnaRiverfront Area|naddition to another Resource Area/Buffer Zone x.S ' ..'. ..... . . .... . .'..... . . .... . #mfFeet Bylaw wetland delineation review under 0O| $1 per Linear Foot(First 1OOft included|n Category 1-5,Not 6) TOTAL ...,. . . . . . .. .. .. ,....... . . .. . .. ....... .... . .. . ....... .... ...., AFTER-THE'FA{T FILING FEE nB . . ... .... '. .... . . . . . . . ... .... .... .. . . . . . . TOTAL FILING FEE Sum mf Totals|n Categories 1-7 ..'. .' .,,.,. . ........ .... Late Filing Penalty(applies m all filings dernedasafte,the-fact) 3x the normal fee per the above schedule Small Project $ 25.00 Modification/Amendment Request haifaKer-thc/ao0 $ 200.08 Partial Certificate ofComap|ianceRequest $ 200.00 Certificate ofCompliance $ 200.00 Extension Permit Request $ 200.00 Removal ofan Enforcement Order(if wo|}o not required and fines have not been issued) $ 100.00 Additional Inspectional Services $ 100.00 Page 2 of 2 309:1 PINNACLE 87 0883pS40 QLI 00Q L AM MANAGEMENT, LC 05-15 14 192018ROOKWOOD DR.STE H f `L+1TI:E.ROCK,AR 72202 I i PAY 07/06/2020 $**********70.00 ; DATE AMOUNT ****SEVENTY AND 0/100 TO THE r ORDER Wit✓ o ComM0nweaithiof Massachusetts Corrinionvl/eaithl'oi*;'MA ;. ap i. AUiHORM SIGNATURE c i 00'3092911' 40640066371: 118596533411' 30930 87-0880840 PINNACLE 14 SQLlTUDELAKE MANAGEMENT,LLC 05-15 THE r _ -1S20�BROOKWOOD DR STE H DER a: r CtTTL E RACK,AA 72202 �M r.^ PAX, 07/06/2020 $**********95.00 DATE AMOUNT '. ****NINETY FIVE AND 0/1.00 ° TO-THE. 0, Eo Elul A Ci y„Af:Noah/Ar1dON er AUMORIM SIGNATURE Tiff lEf?, ,f . ' 'Jim 0.3093010 1:0640086371: 111S46533411' _ ....... 30931 PINNACLE 074MUS40 :SW UOSLAKE MANAGEMENT,LLC 0&15 14 13201BROOKWOOD DR,STE H LRTLE ROCK,AR 72202 PAY 07/06/2020 $"****,%"*165.00 DATE AMOUNT `''ill *'6NS,4 NDRED SIXTY FIVE AND 0/100 RDER 7. OF , -:Ci of No h Andiver lY.__. r# f. rrt i V AUMORIZED SIGNATURE 0403091111' 40 6 4008 6 3 7e: 11159653341i' Fiu res C I rIww �: f z i�,.i55 x l�r x Ir I,"I r,I Ir I L r���� I��r ,� I )r�F���zs a I' n v i i ����r7 i,.r 7��,u r {{ wpp k 1 f S m V ' 1l N�.A..F p.k „a�� „� NJ d R..�„S P �V�f V a lk..b� C g . w I i.r e Wetland Restoration,Wildlife Habitat Assessment,Permit Preparation,and Ecological Services 17( P ; 'Notice Figure 1 . Topographic map East Mill Pond, North Andover - � �� �� he �� s _ 4?4- - - VAA ` g _ a -_, e v e* m - �p m a - _ F s } sz DEROSA Ilk, 40. `: Environmermai may. CONSULTING, V1, - a 167 Main Street,PO Box 716,Rowley Massachusetts 01969 USA L° 978 948-7717 Office-978 948-7718 Fax 41 Figure 2. Project Elements Plan East Mill Pond,North Andover �� General Notes: 1. Base photo from MassDOT Pictometry Viewer N \ \ 2. Notes added by DeRosa Environmental Consulting, Inc. on July?, 2020 :. 3. Professionals will apply selected herbicide and algaecide in low dosages. Treatments will be carried out as necessary based on monitoring results. 4. The goal of the management program is to provide The proposed Aquatic Management g y control of non-native invasive growth of curt leaf Program to control invasive species � ����\© �� pondweed, water chestnut, Phragmites and purple and algae to be re-initiated within ioosestrife to promote a mixed assemblage of native East Mill Pond aquatic plant species, improve water clarity and \�\A� improve recreational access 5.Access to the pond is located on the southern side - of the pond as indicated on this plan 6. Sparse Phragmites and purple loosstrife populations exist on the southern side of the pond towards the \\�` bridge. Population makes up appriximatey 500 square ` feet of coverage in total and will be targeted as part of this aquatic management plan Location of sparse densities of MOM \. fnvillonmen l Michael J.DeRosa ��n P4YS No.2250MjDleeg � July 7,2020 o NO ce of Intent East Mill Pond, North Andover Figure 3. Aerial Photograph USGS Color Orthos 2019 s _ DEROSA ��.. - CONSULTING,INC. 167 Main Street PO Box 716,Rowley Massachusetts 01969 USA 978 948-7717 Office-978 948-7718 Fax Notice of Intent Application Figure 4. East Mill Pond, North Andover Wetlands Map V� Barrier Beach S,,Stet2i Barrier Beach-Deep Marsh garner Beach-hooded S arsp Mixed Trees Barrier Beach-Coastal Beach Barrier Beach-Coastal Dune Barrier Beach-Marsh t t Barrier Beach-Salt Marsh Barter Beach-Shrub Swamp Barrier Beach-?oaded 57ma p Coniferous Barrier Beach-Wooded Swam`p Deciduous Bog Coastal Bank Bluff or Sea Cliff _:-Coastal Beach - - - Coastal Dine _ CranberryBog Deep Marsh Barter Beach-open dater Open!pater Rocky Intertidal Shore Safft Marsh u Shallow Mash Meadow or Fora 'Shrub Sump o . a i(da1:lat sus tooled Swamp Coniferous --Z'Wooded Swamp Deciduous Wooded Swamp Mixed Trees USGS Color Orthas 2014 DEROSA ffm nv mental CONSULTdN6,INC. 167 Main Street,PO Box 716,Rowley Mas chasetts 01969 USA 978 948-7717 office-978 948.7718 Fax Noticei Figure 5. East Mill Pond, North Andover NHESP Map NH ESP Na re'Communities NHES?`stmate Ha IF Rene'Y'Vildh NHESP Certfied Verge'Poo-is HE USGS Color Orthos 2019 ems: DEROSA Environmental ` CONSULTING,INC- 167 Main Street,PO Box 716,Rowley Massachusetts 01969 USA 978 948-7717 Office-978 948-7718 Fax Notice of Intent Application Figure 6. Fema Flood Zone Map East Mill Pond, North Andovert aa;£ # _ay . A: 1%Annual Chance off Plooding, no BFE AE: a %r gnua.Chance O ..,. 4 � li,f.BFt 1�%;: = Annual?as Ch L. atit U - _%#1=1EE£'ir`s°r: is °F�' \� AO: �c -ct .:vca:li. -,� "te F€0wir'1 < L Q with Depth t E: H'Gh Risk Coast i £ea Pos-cible But Undetermined Hazard 1 : 0.2cr Annual Chance o a� e >�. 1 r a A,- as NIL X^: Reduced Flood FUskdue t-3 LeVee Area Not Included r Paper r3 Effect - s .me, ~� CONSULTING,INC: 167 Main Street,PO Box 716,Rowley Massachusetts 01969 USA 978 948-7717 Office-978 948-7718 Fax JV J c, Merrima( v �q ,S,f4 1Q, J� A iA�'i�� <i ­0 o 4 q po _j4 F-,,p 4)ZI 0" Xl�% w w x- shawsheen Ri verNlr f� l Z ; W., -V A 0 'N; 'o, -I`w'Tt�, _f� Rocky Brook��Vh, r ish Brook r.-V EA gvr, W17 17T 777, dar Brook IX V r;�Y _0` L 4­�,�,, X N' q .�2 "511 C." .J' V I�4 A N XV 7- Boston Brook 1 5 'A 5�v jfl 7 h,,w, 4 if n 4—, -77 H P T,4e N , F ­ 1 1,611Y11 A qVrf A: 3 x f 4x o�, q vll s V owl, 4k x3l;1, Scale 1:42,000 North Andover Wetlands Regulations 1 inch =3,500 feet E Riverfront Area Map 2,000 0 2,000 4,000 North Andover,Massachusetts mmmmmc===�Feet pmject521ma1n_andover11 146031fiverfrommW OW02103 Appendix A Abutter Ust Wetland Restoration,Wildlife Habitat Assessment,Permit Preparation,and Ecological Services 18 1 P a g e TOWN OF NORTH ANDOVER ABUTTER LIST REQUIREMENT:MGL 40A,Section 11 states In part"Parties in Interest as used in this chapter shall mean the petitioner, abutters,owners of land directly opposite on any public or private way,and abutters to abutters within three hundred)300)feet of the property line of the petitioner as they appear on the most recent applicable tax list,not withstanding that the land of any such owner is located In another city or town,the planning board of the city or town,and the planning board of every abutting city or town." SUBJECTPARCELS LOCATION OWNER OWNERADDRESS CITY STATE ZIP CODE 069.0-0001-0000.0 1HIGH STREET RCG WESTMILL NA,LLC 171VALOO STREETSUITE100 SOMERVILLE MA 02143 068.0-0010-0000.0 OPRESCOTTSTREET RCG NORTHANDOVER MILLSLLC 171VALOO STREETSUITE100 SOMERVILLE MA 02143 (W 1" PARCEL ID LOCATION OWNER OWNERADDRESS CITY STATE ZIP"CODE 041.00002-0059.0 59 CHURCH STREET RODGERS,GARY 59 CHURCH STREET NORTH ANDOVER MA 01845 041.GOD02-0061.0 61 CHURCH STREET PARCO,COSIMO 61 CHURCH STREET NORTH ANDOVER MA 01845 041.0-0002-o061.A 61 CHURCH STREET PABLO,COSIMO 61A CHURCH STREET NORTH ANDOVER MA 01845 041.00046-0049.0 49 CHURCH STREET LE,ANGELINA 49 CHURCH STREET NORTH ANDOVER MA 01845 041.0-0046-0051.0 51 CHURCH STREET PRAKASHA,TAVAREKERE K 51 CHURCH STREET NORTH ANDOVER MA 01945 042.0-0001-0003.0 88 ELM STREET SAMPSON,PHILLIP W 88 ELM STREET U-1 NORTH ANDOVER MA 01845 042.0-0001-0002.0 88 ELM STREET MOLLOY,JOHN,J. 68 ELM STREET U:2 NORTH ANDOVER MA 01845 042.0-0001-0003.0 88 ELM STREET CRONIN,KATHLEEN I 88 ELM STREET U-3 NORTH ANDOVER MA 01845 053.0-0025-0000.0 0HIGH STREET RCG WEST MILL NA LLC 171VALOO STREET SOMERVILLE MA 02143 053.0-0027-0000.0 90 HIGH STREET FINNIMORE,JONATHAN,R. 90 HIGH STREET NORTH ANDOVER MA 01845 054.0-0001-ODDO.0 4 HIGH STREET RCG WEST MILL NA LLC 171VAL00 STREET SOMERVILLE MA 02143 054.0-0002-0000.0 0WATER STREET RCG WEST MILL NA LLC 171VALOO STREET SOMERVILLE MA 02143 054.0-0003-0000.0 100 ELM STREET RCG 100 ELM LLC 100 ELM STREET NORTH ANDOVER MA 01845 054.0-0004-0000.0 94 ELM STREET R.MESITI FAMILY TRUST 526 OSGOOD STREET NORTH ANDOVER MA 01845 055.0-0001-0000.0 93 ELM STREET LANDERS NOMINEETRUST 4000URTSTREET NORTH ANDOVER MA 01945 055.04=2-0000.0 125 WATER STREET POOR,CHRISTINA,C. 125 WATER STREET NORTH ANDOVER MA 01845 055.0-0003-0000.0 131 WATER STREET LANDRY,BRIAN,1. 131 WATER STREET NORTH ANDOVER MA 01845 055.0-0004-0139.0 139 WATER STREET DANIEL R.OSTIGUY 139 WATER STREET,UNIT 2 NORTH ANDOVER MA 01945 055.04=4-0141.0 141 WATERSTREET CASTELLANOS,MIGUEL 141 WATER STREET NORTH ANDOVER MA 01945 055.0-0008-0000.0 77 ELM STREET FENNESSY,JAMES O 77 ELM STREET NORTH ANDOVER MA 01845 055.0-0009-0000.0 83 ELM STREET EIGHTY THREE ELM ST RLTYTRST II 83 ELM STREET NORTH ANDOVER MA 01945 055.0-0010-0155.0 155 WATER STREET DICARLO,RICHARD P. 155 WATER STREET NORTH ANDOVER MA 01845 055.0-0010-0157.0 157WATERSTREET KOON HO WONG 157 WATER STREET U2 NORTH ANDOVER MA 01845 055.0-0011-0000.0 JOWILEYCOURT BYRON,LISA,A. 12 WILEY COURT NORTH ANDOVER MA 01845 055.0-0012-0000.0 18 WILEY COURT DAMACOGNO,PAUL 18 WILEY COURT NORTH ANDOVER MA 01845 055.00032-0000.0 SSWILEYCOURT SHAUGHNESSY REALTY TRUST 15WILEYCOURT NORTH ANDOVER MA 01845 055.0-0049-0000.0 140-142 WATER STREET MCINERNEY,GERARD 142 WATER STREET NORTH ANDOVER MA 01845 055.0-0OSO-0000.0 1ELM COURT LANDERS,VINCENT B 40 COURT STREET NORTH ANDOVER MA 01845 055.0-0054-0000.0 SWILEYCOURT YOUNG JR,KENNETH A 7WILEY COURT NORTH ANDOVER MA 01845 067.0-0043-0000.0 99 HIGH STREET BAEZ,KENIA 60 PATTON LANE NORTH ANDOVER MA 01845 067.0-0045-0000.0 13 MOUNT VERNON STREET BETTENCOURT,ANDREA 13 MOUNT VERNON STREET NORTH ANDOVER MA 01845 067.0-0053-0000.0 20 MOUNTVERNON STREET TOMIC,DARKO 20 MOUNTVERNON STREET NORTH ANDOVER MA 01845 067.0-0054-0000.0 19 UPLAND STREET DESMOND,BEATRICE&MATTHEW 19 UPLAND STREET NORTH ANDOVER MA 01845 067.G-0069-0022.0 22 UPLAND STREET KRYWUCKI,EDQARD N 22 UPLAND STREET NORTH ANDOVER MA 01845 067.0-0069-0024.0 24 UPLAND STREET REINKE,ANGELA 24 UPLAND STREET NORTH ANDOVER MA 01945 067.0-0070-0000.0 12 UPLAND STREET NOONE,DANIEL,J. 12 UPLAND STREET NORTH ANDOVER MA 01845 067.0-0076.0000.0 95 HIGH STREET ROBERTSON,GEORGE 95 HIGH STREET NORTH ANDOVER MA 01845 O68A-0001-0000.0 52 PRESCOTT STREET LINE DRIVE REALTY,LLC P.O.BOX 1822 ANDOVER MA 01810 068.0-OWZ-0000.0 46 PRESCOTT STREET LIBBY,HENRY I&VIOLA G 46 PRESCOTT STREET NORTH ANDOVER MA 01845 068.0-0003-0000,0 10 MOUNT VERNON STREET LIBBY,HENRY J&VIOLA G 46 PRESCOTT STREET NORTH ANDOVER MA 01845 068.0-0004-0000.0 34 PRESCOTT STREET ROBERTI.GRAVEL REVOCABLE TRUST 34 PRESCOTT STREET NORTH ANDOVER MA 01845 MD 0005.0000.0 24 PRESCOTT STREET GUTHRIE,ARTHUR 24 PRESCOTT STREET NORTH ANDOVER MA 01945 068.04)006-OOOO.A 85 HIGH STREET RAYMOND,RICHARD 85 HIGH STREET NORTH ANDOVER MA 01845 068.0-0006-0000.8 14 PRESCOTT STREET ENAIRE,LEONARD R 14 PRESCOTT STREET NORTH ANDOVER MA 01845 068.0-O007-0000.0 55 PRESCOTT STREET TOKARZ,KENNETH I 55 PRESCOTT STREET NORTH ANDOVER MA 01845 068.0-0008-0000.0 47 PRESCOTT STREET RODDEN,MICHAEL V 47 PRESCOTT STREET NORTH ANDOVER MA 01845 068.0-0009-0000.0 39 PRESCOTT STREET SARNIE,ANDREW M. 39 PRESCOTT STREET NORTH ANDOVER MA 01945 068.0-0012-0000.0 11 UPLAND STREET JESSICA W.VINING 11 UPLAND STREET NORTH ANDOVER MA 01845 069.00002-0000.0 11 BIXBY AVENUE STEPHENSON,ROBERTA 11 BIXBY AVENUE NORTH ANDOVER MA 01845 069.0.0002-0000.E O EAST WATER STREET NORTH ANDOVER HOUSING AUTHORITY 310 GREENE STREET NORTH ANDOVER MA 01845 069.0-0003-0000.4 4BIXBY AVENUE FISHER,MATTHEW 4BIXBYAVENUE NORTH ANDOVER MA 01945 069.0-0003-0000.6 6BIXBY AVENUE THE RATTE FAMILYTRUST 39 PORTER ROAD ANDOVER MA 01810 069.0-0003-0000.8 8BIXBY AVENUE MANSOUR,LISA 8BIXBY AVENUE NORTH ANDOVER MA 069.0-0007-OOOO.0 31 EAST WATER STREET DELAURI,ANTONIO 469 STEVENS STREET NORTH ANDOVER MA 01845 069.0-0010-0000.0 19 EAST WATER STREET HAROLD J.MC PHEEE TRUST 63 WATER STREET NORTH ANDOVER MA 01845 069.0-0011-0000.0 B CLARENDON STREET LORENTZ,MICHAEL 10 CLARENDON STREET NORTH ANDOVER MA 01845 069.0-0012-0000.0 14 CLARENDON STREET HEBERT,PATRICE Y 14 CLARENDON STREET NORTH ANDOVER MA 01845 069.0-0015-0000.0 22 CLARENDON STREET ADAMES,JAMIE 22 CLARENDON STREET NORTH ANDOVER MA 01845 069.0-0016-0032.0 32 CLARENDON STREET DARMON,JULIETTE 32 CLARENDON STREET NORTH ANDOVER MA 01845 069.0-0016-0034.0 34 CLARENDON STREET CARRIERE,MICHELLE 34 CLARENDON STREET NORTH ANDOVER MA 01845 069.0-0026-0000.0 6 EAST WATER STREET MALANDRINO,GUY P 6 EAST WATER STREET NORTH ANDOVER MA 01845 069.0-0027-0000.0 10 EAST WATER STREET EAST WATER ST REALTY TRST 10 EAST WATER STREET NORTH ANDOVER MA 01845 069.00028-0000.0 18 EAST WATER STREET ROBICHAUD,REBECCA 18 EAST WATER STREET NORTH ANDOVER MA 01845 069.00029-0000.0 24 EAST WATER STREET TWENTY-FOUR EAST WATER STREET NT 24 EAST WATER STREET NORTH ANDOVER MA 01845 069.0-0030-0000.0 28 EAST WATER STREET THORNHILL,DEAN A. 30 EAST WATER STREET NORTH ANDOVER MA 01845 069.0-0031-0000.0 34 EAST WATER STREET STALEX REALTY TRUST 358 CHESTNUT HILL AVENUE BRIGHTON MA 02135 069.0-0032-0000.0 3 BIXBY AVENUE CHAOTIC BONGOS LLC 3-5 BIXBY AVENUE NORTH ANDOVER MA 01845 069.0-0034-0000.0 14 BIXBY AVENUE S.&B.REVOCABLE LVNG TRUST 3503 FLORHAM PLACE ASHVILLE NC 28806 069.0-0035-0000.0 25 CLARENDON STREET DAMBACH,MICHAEL 27CLARENDON STREET NORTH ANDOVER MA 01945 069.0-0036-0000.0 2 EAST WATER STREET FUCCA FAMILY E.WATER REALTY TRUST 2 EAST WATER STREET NORTH ANDOVER MA 01845 069.0-0037-0000.0 35 CLARENDON STREET CURTIS,HOLLIS A,JR 35 CLARENDON STREET NORTH ANDOVER MA 01845 069.0.0038-0000.0 1 CLARENDON STREET ZAMOR,SOEHAYA 1-3 CLARENDON STREET NORTH ANDOVER MA 01845 069.0-0039-0000.0 S CLARENDON STREET GEORGE,YVONNE,M.LT S CLARENDON STREET NORTH ANDOVER MA 01845 069.0-00400000.0 178 WATER STREET LEAVITTS,JOANN 178 WATER STREET NORTH ANDOVER MA 01845 069.0-0041-0000.0 172 WATER STREET ZHANG,YUANY 172 WATER STREET NORTH ANDOVER MA 01845 069.0-0042-0166.0 166 WATER STREET BAILLARGEON,DOROTHY 166 WATER STREET NORTH ANDOVER MA 01845 069,04)042-0168.0 168 WATER STREET CUSACK FAMILY TRUST 733 TURNPIKE STREET#111 NORTH ANDOVER MA 01845 069G00043-0000.0 160-162 WATER STREET TORRISI,RAYMOND J. 160 WATER STREET NORTH ANDOVER MA 01845 069.0-0044-0000.0 154 WATER STREET TERRANOVA REALTY TRUST 61 BRENTWOOD CIRCLE NORTH ANDOVER MA 01&45 069.0-0045-0000.0 148-150 WATER STREET MCCARTHY,STEPHEN,B. 330 CAMPBELL ROAD NORTH ANDOVER MA 01845 081.0-0052-0072.0 72 PRESCOTT STREET MARCHAND,JACQUES,A. 72 PRESCOTT STREET NORTH ANDOVER MA 01845 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No in-person attendance by members cf ' the public will be permitted' but every effort will be made to ensure that the public can adequately access the | proceedings in real-time, via technological means. In the event that me are unable to do so, despite best efforts, we will pat on the Town of North Andover website an audio or video recording, transcript, or other � comprehensive records of proceedings as soon as possible after the meeting. If the public would like to participate in public hearings, p|eouo email your questions/comments prior to or during the meeting to the Conservation Administrator Amy N1axner at amexner@unorthandoverma.gov. The question/comment will be read during the proceedings and responded to accordingly. A copy of the Plan and Application may be viewed on the Town of North Andover website by viewing the agenda on the Upcoming Meetings link and clicking on the live link on the agenda item or by clicking the Meeting Agendas link on the left side of the Conservation Department webpage. If you do not have access to a computer or the internet, please call Amy W1axnerat978.68Q.953O10 discuss and become acquainted with the project. Further information regarding the hearing,or the Wetlands Protection Act, maybenbtainedhnmthe � Conservation Department at978.6O8.953D. � � NOTE: Notice of the public hearing,including its date,time,and place will be published in the Lawrence / Eagle-Tribune at least five(5)business days prior to the public hearing date. NOTE: Notice of the public hearing, including its date,time,and place will be posted on the Town's website and | � in the Town Hall, 120 Main Street, North Andover, k4A0l845at least 4D hours prior to the public hearing date. �oTE: You may also contact the Conservation Department or the Northeast Regional Department of � Environmental Protection Off ice for more information about this application or the MA Wetlands � � Protection Act.To contact the Northeast Regional Department ofEnvironmental Protection Office, please call 978.694.3200. � To:The Environmental Monitor From: DeRosa Environmental Consulting, Inc. Date: July 1, 2020 Re: Notification of filing a Notice of Intent (NOI), East Mill Pond North Andover MA Anticipated date of submission: July 9, 2020 The proposed project is seeking approval to continue an Aquatic Management Program at East Mill Pond, 1 High Street, North Andover MA 01845. This program will concentrate on the reduction and eventual control of the excessive aquatic vegetation through the use of USEPA/State registered herbicides and algaecides. The proposed project aims to protect the interests of the Wetlands Protection Act by impeding eutrophication and improving habitat value. Reviewing Conservation Commission(s): North Andover Conservation Commission North Andover Town Hall 120 Main Street North Andover MA 01845 Copies of the NOI may be examined or acquired from the Conservation Commission, or by contacting the applicant's representative, DeRosa Environmental Consulting, Inc, at jimh.derosa@gmail.com, or 978-948-7717, Monday and Friday between 9AM and 4PM. See Conservation Commission website for the meeting schedule for exact dates and agendas. Appendix B Evin Guvendiren Jim Hankin Michael DeRosa Wetland Restoration,Wildlife Habitat Assessment,Permit Preparation,and Ecological Services 19 1 P a g e DE F�1 C i"tol 1� CONSULTING,INC, � Evin Guvendiren, RS a l Nofurwa!Resource F'conomist + Evin graduated from the University of Massachusetts Amherst with a Bachelor of Science in Natural Resource Economics and minors in Environmental Science, Economics, and Natural Resource Conservation. Her studies focused on sustainability, econometrics, land conservation, environmental policy and natural resource management. Evin joined DeRosa Environmental Consulting in the Summer of 2p17 and is currently holding the position as Environmental Scientist. REPRESENTATIVE PROJECTS Private Residence I Dune Grass During her bachelor's studies, Evin spent a semester abroad with the Restoration School for Field Studies in Costa Rica.There,she lived on a sustainable Manchester,MA farm and implemented an integrated pest management system. Her Commercial Property I Wetland classes consisted of field experience and course work on sustainable Restoration development,tropical ecology,and resource management in a Rowley,MA developing country. She also participated in environmental stewardship Private Residence I Reconstruction of a and spent one month conducting a Socio-economic directed research Single Family Home project with a national park. Ipswich,MA Invasive Plant Management Evin also spent a semester researching the Colony Collapse Disorder as I Restoration Project an independent study.She helped a professor with a grant from the Ipswich,MA USDA to determine consumers'willingness to pay for native bee Sally's Meadow I Butterfly Meadow pollination on cranberries.This research was funded to help find an Restoration alternative to commercial honeybee pollination to support the Ipswich,MA agriculture industry and economy. Having grown up near beaches and ocean, marshes, rivers,vernal pools, and national parks, Evin has a strong love and passion for the environment.She spends most of her time outdoors and camps, hikes and kayaks whenever she can. EDUCATION 0S,Natural Resource Economics 12014 University of Massachusetts,Amherst, MA PROFESSIONAL EXPERIENCE Environmental Scientist 12017—Present DeRosa Environmental Consulting Inc Student Researcher IJanuary—May 2014 University of Massachusetts Amherst-Resource Economics department Student Researcher I January—May 2013 The SFS Center for Sustainable Development Studies,Atenas,Costa Rica C' JAMES M. NANKIN 4 Echo Cove Rd. South Hamilton,MA 01982 (978) 257-7492 (C) (978) 468-4519 (H) jim.hankin@verizon.net EMPLOYMENT REGULATORY AND PUBLIC POLICY SPECIALIST DeRosa Environmental Consulting, Rowley MA(2012-present) Advise clients and firm associates on Federal, State and Local environmental statutes and regulations with a focus on the Massachusetts Contingency Plan(MCP)for the clean-up and remediation of hazardous waste sites. Prepare reports for MCP compliance and interact with Massachusetts Department of Environmental Protection, as well as others in the regulated community. COORDINATOR CONSERVATION COMMISSION, Town of Hamilton (1999-present) Advise and assist homeowners and other applicants in obtaining, and maintaining, procedural and substantive compliance with Massachusetts Wetlands Protection Act and Hamilton's Conservation By Law; conduct inspections and schedule and coordinate public meetings, hearings and site walks, manage Town's Conservation budget, advise Commission on wetlands regulatory issues. ATTORNEY (1998 -1999) HUBBARD, EVANS &HANKIN, P.A., Topsfield, MA General Law Practice, Criminal Law,Appeals and Trials,Probate, Real Estate, Bankruptcy ATTORNEY (1993- 97) EVANS&EVANS ,Topsfield, MA General Law Practice (See above) EDUCATION J.D.,CUM LAUDS,(1989-92) SUFFOLK LAW SCHOOL Boston,MA 021o8 Case Comment Editor, Suffolk Law Transnational Law Review Two Published Comments in Transnational Law Review American Jurisprudence Award -1992 Federal Courts American Jurisprudence Award -1991 Commercial Law B.A., Political Science (1975-79) TRINITY COLLEGE, Hartford, CT o61o6 Legislative Internship Program 1978 DER nwirnr riental ,� Michael J. DeRosa Principal,LSP,LEED All BC&D J J Michael J. DeRosa, Principal and project manager specializing in habitat restoration and wetland restoration projects. He has more than 24 years experience working with ecological systems focused on restoration and rehabilitation of damaged landscapes. Ecological principles inform his REPRESENTATIVE PROJECTS design and restoration practices. Ipswich River Watershed Association Mike was the principal wetland permitting leader for the Turner Hill Resort Ipswich MA Center in Ipswich Massachusetts. He has consulted with the Archdiocese of Boston since 1989 in all environmental areas. His firm is known for their Miles River Task Force i expertise in wetland and wildlife habitat restoration and rehabilitation and Watershed Restoration invasive species control and management. Beverly Wenham Hamilton Ipswich MA Paumier Residence I Mike incorporated DeRosa Environmental Consulting, Inc.,in May 1994 Dune Restoration after spending 8 years working in the environmental consulting industry as Manchester MA technical director and project manager. Prior to his consulting career he was a researcher at the Harvard School of Tropical Public Health working Matignon High School Athletic Fields i with infectious diseases and tick transmitted Lyme disease,in particular. Landfill Cap Remediation Cambridge/Somerville MA Mike has been involved with many projects associated with MGL Ch.21e and Massachusetts Contingency Plan(MCP) projects. He received his Wetland Mitigation II�Pond Design Turner Hill Course ( Licensed Site Professional(LSP Lic.3452) registration in 1993. Mike is Mitigation Ipswich MA uniquely credentialed in hazardous waste site assessment and remediation and has over 24 years experience in wetland permitting, habitat restoration Saint Aldan's Church i and mitigation. Mike has permitted projects with all federal,state and local UST Remediation environmental agencies. Mike is on the Practice Faculty at The Boston Brookline MA Architectural College. His new passion is the incorporation of urban Saint lCevin's School agriculture and food justice initiatives in mixed use community based ( AST Remediation projects. Dorchester MA EDUCATION Saint Joseph's School I MA, Boston University, 1993 UST Remediation North Carolina State University, 1986 Salem MA Harvard University, 1985 BA, University of Denver, 1982 Ipswich Country Club i Wetland Restoration Ipswich MA Ould Newbury Golf Club LID Runoff Design Newbury MA p Ferncroft Country Club i Pond Restoration Topsfield/Middleton MA PROFESSIONAL EXPERIENCES Principal, LSP, LEED AP BC&D DeRosa Environmental Consulting, Inc. 11994-Present Technical director, Environmental Engineering Division Web Engineering Associates, Inc.1 1990-1994 Project manager/Environmental Scientist, Dennison Environmental, Inc.1 1988-1989 Population Ecologist&Wetlands Specialist, Lelito Environmental Consultants, LLCM 1987-1988 Research Assistant, North Caroline State University) 1985-1987 Air Pollution Analyst Entropy Environmentalists, Inc.1 1985-1987 Senior Research Assistant Harvard University) 1983-1985 Naturalist The Trustees of Reservations 1 1983-1985 PROFESSIONAL MEMBERSHIPS/AFFILIATIONS New England Wildflower Society USGBC United States Green Building Council NGWA National Ground Water Association AMWS Association of Massachusetts Wetland Scientists LSPA Licensed Site Professional Association SWS Society of Wetland Scientists MACC ( Massachusetts Association of Conversation Commissioners CERTIFICATIONS AND SPECIAL TRAINING Licensed Site Professional(LSP), Lic. No.3452 Professional Wetland Scientist(PWS) LEED Accredited Professional 1 10342989 Certified Ecologist,The Ecological Society of America June 2002—May 2007 CERCLA 40 Hour Hazardous Materials Safety Training OSHA 29 CFR 1910.120 Confined Space Entry Training I OSHA 29 CFR 1910,146 Management Training Workshop I Dun and Bradstreet Hazardous Materials Chemistry Seminar I University of Toledo Unmanned Aircraft License I FAA I Exp.2/28/2019 i