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f � <br /> � ` <br /> . jurisdictional. Field data corroborating a change �in boundary or addition of wetlands <br /> should be provided, such as soil pit da�a, location of samp(e points, vegetation identitied <br /> and hydrology measurements. Hydrophytic vegetation status should conform with the <br /> ofEicially approved plant list "National List of Plant Species that Occur in Wetlands: <br /> Minnesota. May 1988. USDI Fish and Wildlife Service Biological Report." Other � ° <br /> . �ulofficiai lists exist but are not approved for use by the Fish and Wildlife Service for <br /> Nlinnesota or Region 3. ' � <br /> Field documentation and sampling protocol should conform to the US Army Corps of <br /> Engineers Regulatory Guidance Public Notice 96-01078-SDE issued April 17, 1996. This <br /> publication is entitled "Guidelines for Submitting Wetland Delineations to the St. Paul <br /> - District Corps of Engineers and Local Units of Govemment in the State of Minnesota". <br /> , The techniques described in the publication offer valuable guidance and clarification �. <br /> regarding the use of the 1987 Federal Manual for Wetland Delineation. This publication � , <br /> also points out that the indicator status of some hydrophytic plants has "unofficial" status. <br /> The official soluce of indicator status of hydrophytic plants continues to be the U•S Fish <br /> and Wildlife Service publication previously cited. <br /> If it is determined that a TEP meeting is necessary, SER requests that we are notified ten <br /> (10) days prior to the meeting. SER is also•willing to coordinate the meeting if necessary. <br /> _ , - <br /> Any questions should be directed to Frank Svoboda at 952-471-1100. <br /> Sincerely, <br /> Svoboda Ecological Resources • <br /> ��-�---- . , . <br /> d� <br /> Franklin J. Svoboda, PWS, CWB <br /> Vice-President � <br /> � , , <br /> Cc: George Stickney, Coldwell Banker Burnet , <br /> Joe Yanta ACOE , . <br /> � <br /> _ E <br />