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' Using information from the wetland delineation of the substation site,Xcel Energy has designed the <br /> substation to avoid direct impacts to wetlands from the substation. Following the issuance of a <br /> ' route permit Xcel Energy will perform a wetland delineation along the route to determine wetland <br /> locations and minimize impacts from the Project. Standard erosion control measures identified in <br /> the MPCA Stormwater BMP Manual, such as using silt fencing to minimize impacts on adjacent <br /> ' water resources would be followed (Xcel Energy,2011a). Practices may include containing <br /> excavated material,protecting exposed soil,and stabilizing restored soil. <br /> ' In its route permit application,Xcel Energy has proposed the following mitigation measures: <br /> • Spanning wetlands to the greatest extent possible; <br /> • Assembling structures on upland areas before they are brought to the site for installation; <br /> ' • Avoid crossing wetlands with construction equipment to the extent possible; <br /> • Construction during frozen ground conditions in wetlands to the extent possible; <br /> • Construction crews will attempt to access the wetland with the least amount of physical <br /> 1 impact to the wetland (i.e.,shortest route) and will access poles near or in wetlands from <br /> roadways whenever possible to minimize travel through wetland areas; <br /> • When construction during winter is not possible,construction mats (wooden mats or a <br /> ' composite mat system) would be used to protect wetland vegetation;and <br /> • Use of standard erosion control measures identified in the MPCA Stormwater BMP Manual, <br /> such as suing silt fencing to minimize impacts on adjacent water resources. (Xcel Energy, <br /> ' 2011a) <br /> Additional mitigation measures could include: <br /> ' • No staging or stringing set up areas will be placed within or adjacent to wetlands or water <br /> resources,as practicable. <br /> • Restoration of wetland vegetation as soon as possible following construction. <br /> ' 5.14 Flora <br /> The proposed project is located in the Big Woods Subsection of the Eastern Broadleaf Forest <br /> Ecological Province of Minnesota (MnDNR,2011a). At the time of European settlement,this <br /> subsection was characterized by large blocks of oak woodland and maple-bassleaf forest. Land use <br /> along the routes reviewed in this document is predominated by residential uses,which incorporates a <br /> ' large block of undeveloped association land,wetlands,and the Baker Park Reserve,which contains a <br /> remnant of the pre-settlement Big Woods vegetation. Rare or sensitive plant species and habitat are <br /> discussed in Section 5.16. <br /> ' The Project would directly impact to vegetation would be through tree clearing. The Xcel Energy <br /> Proposed Route would remove approximately 2.2 acres of trees;depending upon the route <br /> ' alignment in relation to the MnDOT ROW,the Baker Park Reserve Route Alternative remove <br /> approximately 2.0 to 2.3 acres of trees (Xcel Energy,personal communications,November 16 and <br /> 28,2011). No impacts to identified native plant communities or sensitive plant species are <br /> ' anticipated. <br /> Mitigation Measures <br /> The primary mitigation strategy to minimize impacts to vegetation is minimizing the extent of tree <br /> ' clearing. Xcel Energy has attempted to minimize the need for tree clearing by overlapping railroad <br /> and highway easements to the extent possible. <br /> Environmental Assessment <br /> PUC Docket E002/TL-11-223 Page 49 <br />