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r ' <br /> DEPARTMENT OF THE ARMY COPY <br /> ST.PAUL DISTRICT,CORPS OF ENGINEERS <br /> SIBLEY SQUARE AT MEARS PARK ECE/VFD <br /> 190 FIFTH STREET EAST,SUITE 401 <br /> ST.PAUL MN 6510116338REPLY TO <br /> ,1 <br /> ATTENTION OF AUG 2 0 2M ryUG 2009 <br /> Operations CI <br /> Regulatory (2009-02469-BLW) n'OFORONO <br /> Mr. Todd Ullom <br /> MFRA, Inc. <br /> 14800 28t`Ave.N. Ste. 140 <br /> Plymouth,Minnesota 55447 <br /> Dear Mr. Ullom: <br /> This is in response to your letter dated 15 June 2009, requesting Corps concurrence with <br /> the wetland delineation�ou completed for Cortney LeNeave on a 7.05 acre property located in <br /> the Wakefield Farms 2" Addition. The project site is located in NW1A of Sec. 36, T. 118 N., R. <br /> 23 W., Hennepin County, Minnesota. <br /> We have reviewed the wetland delineation report you provided and concur that the <br /> wetland boundary on the property has been established in accordance with the Corps of <br /> Engineers Wetland Delineation Manual(1987 Manual)and is adequate to establish the limits of <br /> Corps of Engineers Clean Water Act jurisdiction. This wetland delineation shall remain valid for <br /> a period of five years from the date of this letter, unless new information warrants revision of the <br /> delineation before the expiration date. <br /> It is recommended that the delineated wetland boundary be surveyed and identified on <br /> any development plans prepared for this property. <br /> Pursuant to Section 404 of the Clean Water Act, the Corps of Engineers has regulatory <br /> jurisdiction over the discharge of dredged and fill materials, including discharges associated with <br /> mechanical land clearing, in all waters of the United States, which includes most wetlands. In <br /> addition, the Corps regulates all work in navigable waters of the United States pursuant to <br /> Section 10 of the Rivers and Harbors Act. <br /> Please note that work performed below the ordinary high water mark in waters of the <br /> United States, or the discharge of dredged or fill material into wetlands, without a Department of <br /> the Army permit could subject you to enforcement action. Receipt of a permit from a state or <br /> local agency does not obviate the requirement for obtaining a Department of the Army permit. <br /> This delineation/determination has been conducted to identify the limits of the Corps <br /> Clean Water Act jurisdiction for the particular site identified in this request. This <br /> delineation/determination may not be valid for the wetland conservation provisions of the Food <br /> Security Act of 1985,as amended. If you or your tenant are USDA program participants, or <br />