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otherwise comply.1 The Permian Basin Agreement is an example of a voluntary program offered as an alternative set of procedures to protect cultural resources and meet National Historic Preservation Act, Section 106 responsibilities. The program provides for a in which a company may to choose to contribute the cost of the required archaeological survey (required under Section 106 of the NHPA), into a mitigation pool. The pooled fund allows for effective management of the area's archaeological resources and provides industry more predictability and control over schedules and budgets needed to operate efficiently.
In addition to aiding compliance with various laws and regulations, use of mitigation in
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appropriate circumstances may also increase the defensibility of BLM's decisions. :For example,
in 2008, when BLM authorized natural gas development in the Pinedale Anticline in western
Wyoming, thate ^Record of dDecision was challenged on the grounds that it violated FLPMA's
direction to prevent unnecessary or undue degradation of the public lands. :The D.C. Circuit
Court of Appeals, however, found that BLM's authorization complied with FLPMA, citing
BLM's reliance on mitigation measures to reduce project impacts (Theodore Roosevelt
Conservation Partnership v. Salazar, 661 F.3d 66, 76-77 (D.C. Cir. 2011)).
BLM began working on formal mitigation policy in the early 2000s to provide clarity and guidance for the field and increase consistency in the implementation of mitigation, in particular, identifying, considering, and, as appropriate, requiring, mitigation to address impacts to sensitive, important, or rare scarce resources from public land uses. :BLM has also focused on proactive and regional approaches that consider mitigation in the planning process, as well as toand encourages the use of mitigation banks, exchanges and similar mechanisms. :This approach has provided more certainty to applicants on the types of mitigation likely to be considered for a project and has helped to streamline the permitting process.
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RECENT BLM MITIGATION ACTIONS
The BLM has adopted or is in the process of developing the following actions relating to (1)
Secretary's Order 3330, dated October 31, 2013, "Improving Mitigation Policies and Practices of
the Department of the Interior;" and the associated report dated April 2014, "A Strategy for
Improving the Mitigation Policies and Practices of the Department of the Interior;" and (2) the
Presidential Memorandum dated November 3, 2015, "Mitigating Impacts on Natural Resources
from Development and Encouraging Related Private Investment."
1. BLM IB No. 2017-015, Availability of Model Compensatory Mitigation MOU
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(December 2016). Theis IB announces the availability of a model memorandum of
1 Mitigation can play an important role under the Clean Water Act, for example, when restoration can help achieve the no net loss of wetlands standard; under the Clean Air Act, to comply with Implementation Plans for non attainment areas or to prevent/reduce air quality degradation; under the Endangered Species Act, as incorporated in reasonable and prudent alternatives to avoid jeopardizing the continued existence of a listed species under section 7 or as a component of a Habitat Conservation Plan under section 10; under the National Historic Preservation Act, since BLM must consult with states, tribes, and other parties to seek to resolve an undertaking's adverse impacts on historic properties, and seek to minimize harm on National Historic Landmarks; and under the Federal Land Policy and Management Act (FLPMA), to prevent unnecessary or undue degradation of public lands.
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understanding (MOU) for use by the-BLM State Offices when collaborating with state
governments regarding state-based compensatory mitigation programs for the Greater
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Ssage-Ggrouse and its habitat. -This model provides language that makes the strongest
commitment the BLM can make within our legal constraints to coordinate our project
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review processes with the states' compensatory mitigation programs. -The model MOU
can be adapted for other resources and circumstances where state compensatory
mitigation programs may assist the BLM in achieving its mission. To date, BLM has
developed MOUs supporting the use of state-based tools for sage-grouse mitigation with
the states of Nevada, Wyoming, and Colorado, and is in discussions with the states of
Oregon, Idaho, California, Montana, and Utah.
2. BLM Mitigation Manual, MS-1794 (December 2016). This manual section and the
Mitigation Handbook, H-1794-1 (listed below), were issued under BLM IM No. 2017
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021. This policy includes principles for mitigation that, ""effective mitigation is durable,
defined by outcomes, implemented and monitored for effectiveness, considered within
an adaptive management framework, reported upon, managed by a responsible party,
guided by the best available science, and developed through effective, early, and
frequent communication with public land users, cooperating agencies, and other
stakeholders, including the public.""
3. BLM Mitigation Handbook, H-1794-1 (December 2016). -Description included above
under MS-1794.
4. BLM New Mexico IM No. NM-F010-2016-004, Bureau of Land Management
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(BLM) Sensitive Species - Brack's Cactus Management (September 7, 2016). -This
IM is specific to the Farmington District and provides guidance to conserve habitat and
protect Brack's cactus, a BLM Sensitive Species and a species included on the State of
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New Mexico's list of endangered plant species, from ground-disturbing projects by (1)
requiring surveys to identify Brack's cactus locations; and (2) implementing
management guidance to mitigate impacts to Brack's cactus by avoiding and minimizing
impacts, and then compensating for impacts that cannot be avoided.
5. bLm California IM No. CA-2015-009, Renewal of IM Implementing Provisions
within the Consolidated Appropriations Act, 2012 (Public Law 112-74) Related to
Livestock Grazing Authorizations in the California Desert Conservation Area
(December 17, 2014). -This IM reiterates and provides direction on implementing the
livestock grazing provisions in P.L. 112-74, which statesj:hat BLM shall accept the
donation of valid existing grazing allotments and make the land available for mitigation
by allocating the forage to wildlife use consistent with any applicable Habitat
Conservation Plan, Endangered Species Act section 10 permit, or biological opinion.
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6. Multi-Scale Guidance for Identifying Shared Visual Resources and Mitigation of
Adverse Impacts through a Collective and Collaborative Process (in progress). The
National Park Service and the BLM are co-leading an interagency group to advance a
coordinated effort to encourage thoughtful management of shared scenic resources,
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which encompass both natural and cultural settings. -As part of its effort, the team
developed the visual resources guidance called for under #15 of the "Strategy for
Improving the Mitigation Policies and Practices of the Department of the Interior." -The
guidance underwent solicitor review, but has not been finalized. -The NPS and BLM
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agreed to wait for the new Administration to finalize the guidance. :The draft guidance does not place requirements on agencies. insteadRather, it encourages them to work cooperatively with states, industry, private property owners and stakeholders to identify important scenic views and visual resources and to forge a collective management strategy for their stewardship into the future, while resolving potential conflicts early in the decision making processes.
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Jin addition, the
Western Governors Association Greater Ssage--Ggrouse Task Force requested that a team of
state and fFederal agencies, including BLM, discuss the implementation of mitigation
requirements contained in the sage-grouse plans. -The team produced the "Report to the Sage-
Grouse Task Force: Greater Sage-Grouse Compensatory Mitigation (December 2016) " which
identifies key principles and approaches to mitigation commonly agreed to by the state and
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fFederal agencies and provides an overview of each state government's approach to
compensatory mitigation.
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PREVIOUS BLM MITIGATION ACTIONS
Prior to issuance of Secretarial Order 3330 and the 2015 Presidential Memorandum, the BLM
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took the following actions of note related to mitigation.:
1. BLM IM No. 2013-142, Interim Policy, Draft Regional Mitigation Manual Section (MS-1794) (June 2013). This interim policy directed resource programs to move from case-by-case application of mitigation to a regional approach that involves anticipating future mitigation needs and strategically identifies mitigation sites and measures that can help the BLM achieve its resource objectives while improving permitting efficiencies and providing greater certainty to permit applicants, partners, stakeholders, and the public. The 2013 interim policy covered all resource programs and was the precursor to the current Mitigation Policy. This policy replaced BLM IM No. 2008 20In response to this policy, the BLM began developing regional mitigation strategies in several areas to provide a clear path forward for potential mitigation actions, including in the Solar Energy Zones, sagebrush-steppe and Greater sage-grouse habitat, and the National Petroleum Reserve - Alaska.
2. BLM Arizona IM No. AZ-2012-031, Desert Tortoise Conservation Agreement Implementation (June 2012). -This IM articulates a consistent mitigation policy for District and Field Offices in Arizona, including off-site compensation for the desert tortoise and its habitat on public lands managed by the BLM in Arizona, (
3. BLM Special Status Species Manual (M 6840) (December 2008). -This Manual
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Qt10.
BLM Protecting Cultural Resources Manual (MS-8140) (December 2004).
This Manual provides general guidance for protecting cultural resources from inadvertent
adverse effects associated with BLM land use decisions, pursuant to the National Historic
Preservation Act, the National Environmental Policy Act, Executive Order 11593, and
the National Programmatic Agreement regarding the manner in which the BLM will meet
its responsibilities under the National Historic Preservation Act.
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1-8.11. BLM hardrock mining regulations, 43 CFR 3809. :Among the general
performance standards for surface management within a mining plan of operations is the
requirement to "take mitigation measures specified by BLM to protect public lands" (43
CFR 3809.420(a)(4)).
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44.12. BLM FLPMA right of way regulations, 43 CFR 2800. ;These regulations
require holders to "restore, revegetate, and curtail erosion or conduct any other
rehabilitation measures BLM determines necessary" including conditioning agreements
on compensatory mitigation, (43 CFR 2805.12(i)).
4-2.13. BLM easement regulations, 43 CFR 2920. These regulations direct BLM
include terms and conditions that . . . "'minimize damage'" and "require the use to be
located in an area which shall cause the least damage to the environment" (43 CFR
2920.7(b)).
BACKGROUND ON CLIMATE CHANGE For many years, primarily through NEPA analyses for land use planning and project authorizations, the BLM has considered climate change, its effects on public lands and public land users, and how BLM decisions contribute to climate change, primarily through NEPA analyses for land use planning and project authorizations. The -BLM began working on formal climate change policy in 2008 through issuance of an Instruction Memorandum (IM), transmitting draft guidance for state and field office comments on incorporating climate change considerations into land use planning and NEPA documents. -In 2010, the CEQ released a document entitled, "Draft NEPA Guidance on Consideration of the Effects of Climate Change and Greenhouse Gas Emission" for review by the public and agencies. -The CEQ issued revised draft guidance in December of 2014 for review and comment. -Final CEQ guidance was issued in August of 2016.
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RECENT BLM CLIMATE CHANGE ACTIONS
The BLM has adopted or is in the process of developing the following list of actions relating to
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the guidance identified in SOecretarial Order 3349 and the 2016 CEQ-^s "Final Guidance for
Federal Departments and Agencies on Consideration of Greenhouse Gas Emissions and the
Effects of Climate Change in National Environmental Policy Act Reviews."
1. BLM Permanent IM No. 2017-003, The Council on Environmental Quality Guidance on Consideration of Greenhouse Gas Emissions and the Effects of Climate Change in National Environmental Policy Act Reviews (December 2016). -The IM transmits CEQ guidance on considering climate change in NEPA analysis. -It also provides specific step-down guidance for how to calculate the "downstream" or indirect
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greenhouse gas emissions associated with fossil fuel actions (coal, oil, and gas), when
production estimates are reasonably foreseeable.
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2. BLM IM, Considering Climate Change in NEPA Documents (never issued). _This
draft policy was intended to provide BLM-specific step-down guidance based on CEQ
guidance and Department of the Interior Office of Environmental Policy and Compliance
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(OEPC) guidance on considering climate change in NEPA analysis. _Topics included
land use and carbon sequestration, biogenic emissions associated with prescribed- and
wild-fire, and the social cost of carbon.
his policy has been placed on hold pending clarifying guidance on how to proceed. 3. and Targets (January 5, 2016). This IM Identifies the BLM's Fiscal Year 2016 Environmental Management System (EMS) objectives and targets. It references Executive Order 13693, Planning for Federal Sustainability in the Next Decade, which directs agencies and bureaus to reduce air emissions, water use, energy use, and enhance their green procurement. 4. BLM IM 2015-020: Guidance - Use of Air Emissions Estimating Tools (November 11, 2014). This IM provides national guidance for the BLM on the use of air emissions estimating tools. Specifically, it describes three toolkits available for BLM staff to use when estimating emissions for NEPA or other purposes. 5. BLM IM 2017-037: Waste Mine Methane Policy .January 23, 2017). This IM establishes national policies and processes to foster voluntary activities by operators to capture waste mine methane from underground coal or other solid mineral mines. These policies allow waste mine methane to be put to productive use, where economical, and reduce environmental impacts, while ensuring continued safe underground mining operations on Federal lands 2.6.BLM Waste Prevention, Production Subject to Royalties, and Resource Conservation regulation. 81 Fed. Reg. 83008 (January 17, 2017). This new rule provided guidance on managing methane. Please see response to Section 5(c) for more information on this rule.
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PREVIOUS BLM CLIMATE CHANGE ACTIONS
Prior to issuance of the documents listed in SO 3349, the BLM took the following actions of note
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related to climate change.:
1. BLM New Mexico IM No. NM-2013-022, Availability of Updated Air Resources
Technical Report (ARTR); Use of Environmental Assessment (EA) Template Air
Quality and Climate Change Language for Applications for Permit to Drill (APDs)
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and Lease Sales (June 2013). _Theis IM instructed District and Field Offices to use the
latest version of the BLM New Mexico Air Resources Technical Report, and provided
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template language for use in NEPA environmental analysis documents, to address air
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quality and climate change impacts.
2. BLM Oregon/Washington IM No. OR-2010-012, Analysis of Greenhouse Gas
Emissions and Consideration of Climate Change in National Environmental Policy
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Act Documents (January 2010). -Theis IM provided guidance on analyzing greenhouse
gas emissions and addressing changing climate conditions in NEPA documents. The IM
expired in October 2011.
3. BLM IM No. 2008-171, Guidance on Incorporating Climate Change into Planning
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and NEPA Documents (August 2008). -Theis IM transmitted draft guidance on
space between paragraphs of the same style
incorporating climate change considerations into the Land Use Planning/NEPA analysis
process, and requested feedback from the BLM states on their experience with
incorporating climate change into NEPA documents.
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BLM has also developed tools and a report to assist in assessing emissions, including the following:
1. Tool: BLM Emissions Inventory Toolkit. The BLM Washington Office is developing
an Emissions Inventory Toolkit, scheduled for completion in September 2017, which
would consolidate and enhance existing emissions inventory tools that have been
developed in recent years to address requirements from the Clean Air Act. _The
Emissions Inventory Toolkit would be a web-based application for calculating emissions
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from criteria pollutants, hazardous air pollutants and greenhouse gases. _It would store
emissions inventories from various projects to assess cumulative emissions, and would
include a modeling component for near-field impacts analysis. The toolkit would include
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a library to store documents and reports. The toolkit, and would be useful in streamlining
air analyses for NEPA and General Conformity requirements and showing whether air
quality standards or management goals would be met.
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2. Tool: BLM Colorado Emissions Inventory Calculator. The BLM-_Colorado emissions
calculator estimates air resources emissions, including greenhouse gases, with the goal of
providing technical consistency and efficiency in gathering data on emissions-generating
activities for use in NEPA analyses. The ability of the tool to gather information from
external sources to be compiled for analysis has led to faster processing times for projects
requiring air analysis. This tool would be consolidated into the BLM Emissions
Inventory Toolkit mentioned above.
3. Tool: BLM Oregon/Washington carbon calculators. Four of the BLM western
Oregon Districts have developed carbon storage and greenhouse gas calculators to
support environmental analyses, primarily timber sales. Key features of these tools
would be consolidated into the BLM Emissions Inventory Toolkit mentioned above.
4. Tool: BLM New Mexico emissions calculators. In BLM New Mexico, the BLM has
three calculators are-available to estimate air resources emissions, including greenhouse
gases, for use in NEPA environmental analysis documents associated with applications
for permit to drill and oil and gas lease sales. Key features of these tools would be
consolidated into the BLM Emissions Inventory Toolkit mentioned above.
5. Report: Greenhouse Gas & Climate Change Report. The Greenhouse Gas and
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Climate Change Report provides a database and air emissions tool to calculate greenhouse gas emissions for the base year database and the out-year projections for 10 western states. The report includes emissions associated with production and consumption activities, separated by Federal and non-Federal lands for coal, oil, natural gas, and natural gas liquids, for incorporation by reference into NEPA analyses. The reports would be housed in the library section of the BLM Emissions Inventory Toolkit mentioned above.
In addition to the policies and tools listed above, the BLM has taken a wide variety of actions over the years to assess and address the risks associated with wildland fire, invasive plants and animals, drought and other environmental changes that may be caused, in part, by climate change. Wildland fire, invasive plants, drought, and other issues are included in EO 13653 and the President's Climate Plan. Because addressing these issues is an inherent part of BLM's land management responsibilities, related policies and actions are pervasive throughout the BLM. Most of these policies and actions began before the EO and associated documents were issued. In the Department's Adaptation Strategy in response to the Climate Action Plan, the BLM is tasked with continuing landscape-level planning efforts and conducting vulnerability assessments, both of which the BLM does when assessing resource conditions and planning for land uses. The Strategy also called for the BLM to consider climate change when modifying agency facilities, which the BLM does by considering opportunities to make building
when completing audits and conducting building upgrades
rand to support the National Cohesive Wildland Fire
anagement Strategy.
has taken actions in all of these areas, as well as others to address
fire, invasive species, drought and other threats impacting the public lands. Examples of such
adaptation actions include the following:, helping develop and implement the National Cohesive
Wildland Fire Management Strategy;, participating in the work of the National Invasive Species
Council;, working with the State of Montana and the National Drought Resilience Partnership to
build drought resilience in the Upper Missouri River Basin;, synthesizing and considering
ecoregional information related to impacts of climate change on the resources BLM manages in
land use planning;, and partnering with individual livestock permittees to adapt their operations
to be more resilient to wildland fire and drought.
NEXT STEPS In responding to SO 3349, the BLM has focused primarily on policies that have been adopted since the date of the documents specified in the Order. However, we have included certain earlier policies to provide context and a history of how these policies have evolved over time. The BLM has applied mitigation and considered climate change in its decision-making and use authorizations for years, encompassing thousands of individual actions and decisions. :As noted previously, several laws, such as the National Historic Preservation Act and the National Environmental Policy Act, require the BLM to consider mitigation and/or climate change in its decision-making processes. :Courts have also weighed in on the need for the BLM to consider
both mitigation and climate change, including greenhouse gas emissions. (b) (5)
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