Today CPR President Rena Steinzor and I submitted comments to EPA and each Chesapeake Bay Watershed jurisdiction regarding their draft Phase I Watershed Implementation Plans. The states, we find, need to improve their plans significantly.
After more than 20 years of haplessly stumbling toward restoration, often in fits and starts, EPA and the Bay jurisdictions—Delaware, the District of Columbia, Maryland, New York, Pennsylvania, Virginia, and West Virginia—have finally agreed on a final destination: the Bay TMDL (Total Maximum Daily Load). Achieving the pollutant allocations in the Bay TMDL will make the Bay once again healthy enough to sustain oyster and blue crab populations and the local economies that depend on them, provide nursery habitat in its grasses, and allow safe recreation for the millions of people who live and work in the Bay Watershed. Establishing the destination goes hand-in-hand with determining the route, which is where the WIPs come into play. The WIPs should represent a clear, defined roadmap and itinerary—with mile-markers, gas stops, and scenic overlooks—to demonstrate how the Bay jurisdictions will achieve their pollutant allocations under the Bay TMDL. Instead, the draft WIPs the Chesapeake Bay jurisdictions submitted in September list, in essence, only the means of transportation—By Rollerblades! By trains! By SUV!—and a list of sights along the way, without committing to any specific route.
In August, we developed a set of metrics by which to grade the WIPs, setting out what we see as necessary characteristics to make the plans successful (we'll be releasing evaluations on the final WIPs, which are due November 29th). The metrics focus on two broad categories: (1) the transparency of information in the WIPs in providing key information about mandatory and voluntary pollutant control programs and (2) the strength of these programs in making actual pollutant reductions. Overall, the Bay jurisdictions’ draft Phase I WIPs do not provide an adequately clear or defined roadmap to achieving the Bay TMDL. The draft WIPs tend to list with varying degrees of specificity the state programs related to achieving the Bay TMDL without explicitly committing to strengthening existing programs or implementing new actions to make actual pollutant reductions. The extent to which states disclosed information for the transparency of information evaluation necessarily determines the ability to evaluate the strength of the programs.
Some highlights and lowlights from the submissions:
In the final Phase I WIPs, all Bay jurisdictions need to provide the specific numbers and amounts of resources available and needed to form a baseline of information to enable comparisons of future progress. EPA expects all Bay jurisdictions to make specific commitments, demonstrated by establishing timelines and milestones, to improve existing programs or implement new programs to achieve the allocations under the Bay TMDL. The Phase I WIPs should amount to more than an inventory of state programs; they should constitute a defined roadmap to which EPA and the public can hold the Bay jurisdictions accountable.