AASHTO IQED-2006 Improving the Quality of Environmental Documents (Revision 1)《提高环境文件质量.修改件1》.pdf
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1、American Council of Engineering Companies1015 15th Street, 8th Floor, NWWashington, DC 20005-2605http:/www.acec.org/ Federal Highway Administration400 Seventh Street, SWWashington, DC 20590http:/www.fhwa.dot.gov/ 2006 by the American Association of State Highway and Transportation Offi cials, the Am
2、erican Council of Engineering Companies, and the Federal Highway Administration. All Rights Reserved. This book, or parts thereof, may not be reproduced in any form without written permission of the publisher. Printed in the United States of America.May 2006Improving the Quality of Environmental Doc
3、umentsA Report of the JointAASHTO/ACEC Committeein Cooperation with theFederal Highway AdministrationAmerican Association of State Highwayand Transportation Offi cials444 North Capitol Street, NW, Suite 249Washington, DC 20001http:/transportation.orgAmerican Association of State Highway and Transpor
4、tation Offi cialsISBN: 1-56051-348-9 Publication Code: IQED-1AASHTO Center for Environmental Excellence444 North Capitol Street, NW, Suite 249Washington, DC 20001http:/environment.transportation.org/IQED-1 Cover 2.indd 1 5/26/2006 11:32:18 AMii Acknowledgments AASHTO, ACEC, and FHWA gratefully ackno
5、wledge the contributions of the task team members who worked on this effort. In addition to the information provided in this guide, a wealth of information compiled by the Education Task Team will be accessible through AASHTOs Center for Environmental Excellence Web site. Quality and Clarity of NEPA
6、 Documents Task Team Team Leader Carol Lee Roalkvam Washington State DOT Brent Jensen Utah DOT Hal Kassoff Parsons Brinckerhoff Don Cote FHWA Resource Center Lindsay Yamane Parametrix, Inc. Jim Horrocks Horrocks Engineering Frank Danchetz ARCADIS Bob Esenwein Turner Collie 2) the legal sufficiency2o
7、f NEPA documents; and 3) the training and education related to NEPA and environmental documentation. This guide documents the efforts of the Quality and Clarity of NEPA Documents Team and the Legal Sufficiency Team. Findings from the Education Team, which will be updated frequently, will be made ava
8、ilable through AASHTOs Center for Environmental Excellence Web site. The first several chapters of this report address the quality and clarity of NEPA documents. These chapters offer recommendations on ways to improve the quality of NEPA documents by making them more effective, engaging, and useful
9、for the public and decision-makers, including focusing on the needs of reviewing regulatory agencies and the legal community. The issue of legal sufficiency for transportation-related NEPA documents is addressed in Chapter 5. It is intended to provide state DOTs, engineering consultants, and FHWA wi
10、th a better understanding of the FHWA legal sufficiency review. It also provides practical advice for improved development of quality and legally adequate NEPA documents. 142 U.S.C. 4332; 40 C.F.R. 1500-1508. 2FHWA regulations at 23 C.F.R. 771.125(b) and 23 C.F.R. 771.135(k) require the formal legal
11、 sufficiency review of all final environmental impact statements (EIS) and final Section 4(f) evaluations prior to approval of those documents by the FHWA Division Office. AASHTO and ACEC survey respondents identified a range of problems related to writing quality and format of NEPA documents: Too l
12、arge, wordy, repetitive, complex, and cumbersome Lack of consistency in format, approach Lack of a coherent story with a logical progression Too much focus on legal “air-tight” document versus writing for the public Too much focus on “the look” of the document vs. usability for decisions Lack of com
13、munication among multiple authors. 2006 by the American Association of State Highway and Transportation Officials.All rights reserved. Duplication is a violation of applicable law.2 This document is intended as a resource, not official guidance. It was developed by a group of experienced NEPA, trans
14、portation, and environmental professionals and represents the collective thinking of these individuals. 1.2 Why do we need to improve NEPA documents? NEPA requires agencies to disclose environmental impacts of their decisions in a way that is understandable to the public and to decision-makers. In t
15、he past few decades, NEPA documents have evolved into voluminous collections of data aimed at meeting increasing legal requirements. In many cases, these documents have become overwhelming and incomprehensible to the average citizen. Many EISs and EAs are not clearly written, are poorly organized, a
16、nd are presented in a format that is difficult to follow. This trend has occurred despite NEPA regulations and Federal agency guidance that provide adequate flexibility for documents to be written in a way that will more effectively communicate to the public. In fact, the regulations require clear,
17、understandable documents that “concentrate on the issues that are truly significant to the action in question, rather than amassing needless detail.”3AASHTO, ACEC, and FHWA practitioners identified a range of problems with NEPA documents; however, the top concern was the unwieldy size of the documen
18、ts, with respondents complaining that documents are too large, wordy, repetitive, complex, and cumbersome.4 It is not at all uncommon for EIS documents to approach 1,000 pages.5Other key concerns included poor writing quality and the need for better technical editing. Recent research has found that
19、“the length and complexity of environmental documents may deter some people from reading and comprehending them, which is antithetical to their very purpose.”6For example, a study by University of Illinois researchers found that the majority of citizens they tested showed no better understanding of
20、a project after they read the projects EIS document than they had before they read it.7State transportation officials point to a variety of circumstances that contribute to the growing size and complexity of environmental documents, including changing expectations from regulatory agencies, legal con
21、cerns related to court challenges, and information requests from the public or special interest groups. “We recognize that our environmental documents must continue to meet the needs of regulatory agencies and the attorneys that defend our projects, but they also need to meet the needs of the public
22、 that we serve,” WSDOT said 3CEQ Regulations, 40 C.F.R. 1500.1(b) 4Synthesis of Data Needs for EA and EIS DocumentationA Blueprint for NEPA Document Content, NCHRP Project 25-25(01), January 2005, Appendix C, p. A-5. 5Washington State Department of Transportation Reader-Friendly Document Tool Kit, p
23、. 2-2. 6Ibid., page 1 7Assessing the Impact of Environmental Impact Statements on Citizens, Environmental Impact Assessment Review, Vol. 16, No. 3, May 1996, pp. 171182. CEQRegulations for Implementing NEPA Agencies shall focus on significant environmental issues and alternatives and shall reduce pa
24、perwork and the accumulation of extraneous background data. Statements shall be concise, clear, and to the point, and shall be supported by evidence that the agency has made the necessary environmental analyses. 40 C.F.R. Sec. 1502.1 Purpose. 2006 by the American Association of State Highway and Tra
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