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2016 SWCS Annual International
Conference
Louisville KY
July 25, 2016
Noel Gollehon and George Townsley, NRCS
Rich Iovanna, FSA
Implementing the PR&G at USDA
Slide 2
United States Department of Agriculture
Natural Resources Conservation Service
Outline
• What is the PR&G?
• Why care about the PR&G?
• What was wrong with the P&G?
• How did we get here administratively?
• What are key features of the PR&G?
• Exclusions from the PR&G process.
• The why and what of USDA’s implementation
procedures.
• Status of USDA’s implementation procedures.
• Wrap-up.
Slide 2
Slide 3
United States Department of Agriculture
Natural Resources Conservation Service
What is the PR&G?
• Principles, Requirements & Guidelines for Federal
Investments in Water Resources
 Provides a common framework for analyzing Federal
investments in a range of water resources projects,
programs, activities, and related actions
 PR&G applies to a broad range of Federal investments
“that by purpose, either directly or indirectly, affect water
quality or water quantity, including ecosystem restoration
or land management activities”
 The framework applies to projects, programs, and
activities of Army Corps of Engineers, Departments of the
Interior, Commerce, Agriculture, along with TVA, EPA,
and FEMA
Slide 3
Slide 4
United States Department of Agriculture
Natural Resources Conservation Service
Why care about the PR&G?
• If seeking Federal funding for almost any water related
activity, the PR&G evaluation process may apply
 Army Corps dams, levees, locks, and restoration projects
 Bureau of Reclamation dams and irrigation infrastructure
 USDA-NRCS dams for flood control or other purposes
 USDA-RD programs for rural drinking water infrastructure
 EPA grant programs to improve water infrastructure
• The evaluation process may impact project’s funding
potential
• If a PR&G evaluation is required, there may be
significant administrative cost to conduct the analysis
Slide 4
Slide 5
United States Department of Agriculture
Natural Resources Conservation Service
What was wrong with the P&G?
• Principles, Requirements & Guidelines for Federal
Investments in Water Resources (PR&G) replaces
the P&G (Principles and Guidelines for Water and
Land Related Resources Implementation Studies):
 P&G were issued in 1983 (span of 33 years)
 P&G provided an evaluation framework for water and
related land resources implementation studies
 Applied to water resources project plans of the Corps of
Engineers, Bureau of Reclamation, TVA and Soil
Conservation Service (NRCS)
 The P&G required selection of the plan or project that
provided the greatest net economic development (NED
account), consistent with protecting the environment
(exceptions to NED plan were possible)
Slide 5
Slide 6
United States Department of Agriculture
Natural Resources Conservation Service
How did we get here
administratively?
• With great difficulty and very slowly!
• Congress instructed the Army Corps to revise the P&G as a
provision of the 2007 Water Resources Development Act
 The Corps revised the P&G in a manner unacceptable to the other
Agencies that use the P&G
• In 2009, the Council for Environmental Quality (CEQ)
assumed control of re-issue
 Reconcile differences in Agency’s language and approach
 Expanded the Agencies involved and the scope of the activities
evaluated
• In 2013, CEQ issued Principles and Requirements (the PR)
• In 2014, CEQ issued Interagency Guidelines (the G)
• Requires each Agency to issue detailed instructions
Slide 6
Slide 7
United States Department of Agriculture
Natural Resources Conservation Service
What are key features of the
PR&G?
• No single decision criteria
 Allows tradeoffs between economic, environmental and social
objectives to optimize across three goals
 Decision maker documents why decision was made.
• Federal objective (from 2007 WRDA)
 Maximize sustainable economic development
 Avoid unwise use of floodplains, and
 Protect and restore functions of natural systems and mitigate
unavoidable damage
• Principles beyond the Federal objective
 Public Safety
 Environmental Justice
 Watershed Approach
Slide 7
Slide 8
United States Department of Agriculture
Natural Resources Conservation Service
What are key features of the
PR&G?
• Core of the PR&G is a planning process to draw out the
benefits and costs of a potential water resources investment
in an ecosystem services context
 Relatively standard set of project evaluation steps, from defining the
issue to documenting the decision
 Described, quantified, and monetized benefits are considered
 Data adjustments allowed on smaller ($ & impact) projects
• Agencies have limited flexibility to:
 Specify requirements for the project evaluation steps
 Define the scale of “smaller” projects and projects below an evaluation
threshold
 Define included/excluded activities
Slide 8
Slide 9
United States Department of Agriculture
Natural Resources Conservation Service
Activities excluded from PR&G
 PR&G applies to a broad range of Federal investments
that by “purpose, either directly or indirectly, affect water
quality or water quantity, including ecosystem restoration
or land management activities”
 Several exclusions and exceptions to this broad statement
• Scale: Lower threshold of $10 million for projects, $50 million
annually for programs
• Activity: Regulatory activities, Research/monitoring, and emergency
actions
• Equivalent Pathway: An existing planning process is in place that
meets the purpose and intent of the PR&G for Federal investments
Slide 9
Slide 10
United States Department of Agriculture
Natural Resources Conservation Service
USDA’s implementation
procedures
• USDA has limited flexibility to:
 Specify standards for the accomplishment of the project
evaluation steps
• Basically following the requirements of NRCS watershed project
planning restructured to conform to an ecosystem services
perspective and to reflect the broader objectives
 Define the scale of “smaller” projects and projects below
an evaluation threshold
• Agencies may require a similar analysis for any project broader
objectives
Slide 10
Slide 11
United States Department of Agriculture
Natural Resources Conservation Service
USDA’s implementation
procedures
• USDA has limited flexibility to:
 Define included/excluded activities at the USDA agency
level
• Forest Service
– Included:
» Third-party water infrastructure development on Forest
Service Lands with a cost of more than $10 million (rare)
» Forest restoration with a water purpose costing more
than $10 million (rare event)
– Excluded: Land management planning activities and forest
related grants programs
Slide 11
Slide 12
United States Department of Agriculture
Natural Resources Conservation Service
USDA’s implementation
procedures
• USDA has limited flexibility to:
 Define included/excluded activities at the USDA agency
level
• Natural Resources Conservation Service
– Included: Activities conducted under Watershed Authorities
including rehabilitation (note that some RCPP projects rely
on these Authorities)
– Excluded: Farm Bill Conservation and Technical Assistance
Programs and activities under the Emergency Watershed
Program
Slide 12
Slide 13
United States Department of Agriculture
Natural Resources Conservation Service
USDA’s implementation
procedures
• USDA has limited flexibility to:
 Define included/excluded activities at the USDA agency
level
• Farm Service Agency
– Included: No programs at this time
– Excluded: Farm Bill Conservation and Support Programs
• Rural Development - Rural Utilities Service
– Included: Water and Waste Disposal Loan and Grant
Program (analysis conducted at a programmatic level)
– Excluded: Technical Assistance, Household water well
grants, and planning grants
Slide 13
Slide 14
United States Department of Agriculture
Natural Resources Conservation Service
USDA’s implementation status
• USDA will publish the procedures as a
Departmental Guidance that directs the Agencies to
conduct the analysis if needed
 Like other aspects of this effort, behind the deadline
 The Departmental Guidance will be finalized this fall
 NRCS will then revise its internal watershed planning
manuals and handbooks to reflect the revised guidance
 RD-RUS will develop procedures to incorporate the
PR&G in their water related loan programs at a
programmatic level
 FS and FSA will rarely, if ever, invoke the PR&G process
so it will be a revision to policy but likely no other action
Slide 14
Slide 15
United States Department of Agriculture
Natural Resources Conservation Service
Wrap-up
• The evaluation process for Federal investments in
water resources projects is being revised
• The revised process includes:
 More Agencies and activities
 Adopts an ecosystem services approach
 Increases project selection alternative options
 May be more rigorous for BIG projects (rare at USDA)
 May be less data intensive but more ecosystem service
driven for small projects (NRCS watershed programs)
 Impact of programmatic evaluations is unknown
(RD-RUS)
• CEQ guidance is final, USDA’s is underway
Slide 16
Noel Gollehon
Noel.Gollehon@wdc.usda.gov
301-504-1763
Thoughts and opinions presented today are those of the author and do not
represent those of USDA or the Natural Resources Conservation Service.

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Implementing the PR&G at usda gollehon

  • 1. 2016 SWCS Annual International Conference Louisville KY July 25, 2016 Noel Gollehon and George Townsley, NRCS Rich Iovanna, FSA Implementing the PR&G at USDA
  • 2. Slide 2 United States Department of Agriculture Natural Resources Conservation Service Outline • What is the PR&G? • Why care about the PR&G? • What was wrong with the P&G? • How did we get here administratively? • What are key features of the PR&G? • Exclusions from the PR&G process. • The why and what of USDA’s implementation procedures. • Status of USDA’s implementation procedures. • Wrap-up. Slide 2
  • 3. Slide 3 United States Department of Agriculture Natural Resources Conservation Service What is the PR&G? • Principles, Requirements & Guidelines for Federal Investments in Water Resources  Provides a common framework for analyzing Federal investments in a range of water resources projects, programs, activities, and related actions  PR&G applies to a broad range of Federal investments “that by purpose, either directly or indirectly, affect water quality or water quantity, including ecosystem restoration or land management activities”  The framework applies to projects, programs, and activities of Army Corps of Engineers, Departments of the Interior, Commerce, Agriculture, along with TVA, EPA, and FEMA Slide 3
  • 4. Slide 4 United States Department of Agriculture Natural Resources Conservation Service Why care about the PR&G? • If seeking Federal funding for almost any water related activity, the PR&G evaluation process may apply  Army Corps dams, levees, locks, and restoration projects  Bureau of Reclamation dams and irrigation infrastructure  USDA-NRCS dams for flood control or other purposes  USDA-RD programs for rural drinking water infrastructure  EPA grant programs to improve water infrastructure • The evaluation process may impact project’s funding potential • If a PR&G evaluation is required, there may be significant administrative cost to conduct the analysis Slide 4
  • 5. Slide 5 United States Department of Agriculture Natural Resources Conservation Service What was wrong with the P&G? • Principles, Requirements & Guidelines for Federal Investments in Water Resources (PR&G) replaces the P&G (Principles and Guidelines for Water and Land Related Resources Implementation Studies):  P&G were issued in 1983 (span of 33 years)  P&G provided an evaluation framework for water and related land resources implementation studies  Applied to water resources project plans of the Corps of Engineers, Bureau of Reclamation, TVA and Soil Conservation Service (NRCS)  The P&G required selection of the plan or project that provided the greatest net economic development (NED account), consistent with protecting the environment (exceptions to NED plan were possible) Slide 5
  • 6. Slide 6 United States Department of Agriculture Natural Resources Conservation Service How did we get here administratively? • With great difficulty and very slowly! • Congress instructed the Army Corps to revise the P&G as a provision of the 2007 Water Resources Development Act  The Corps revised the P&G in a manner unacceptable to the other Agencies that use the P&G • In 2009, the Council for Environmental Quality (CEQ) assumed control of re-issue  Reconcile differences in Agency’s language and approach  Expanded the Agencies involved and the scope of the activities evaluated • In 2013, CEQ issued Principles and Requirements (the PR) • In 2014, CEQ issued Interagency Guidelines (the G) • Requires each Agency to issue detailed instructions Slide 6
  • 7. Slide 7 United States Department of Agriculture Natural Resources Conservation Service What are key features of the PR&G? • No single decision criteria  Allows tradeoffs between economic, environmental and social objectives to optimize across three goals  Decision maker documents why decision was made. • Federal objective (from 2007 WRDA)  Maximize sustainable economic development  Avoid unwise use of floodplains, and  Protect and restore functions of natural systems and mitigate unavoidable damage • Principles beyond the Federal objective  Public Safety  Environmental Justice  Watershed Approach Slide 7
  • 8. Slide 8 United States Department of Agriculture Natural Resources Conservation Service What are key features of the PR&G? • Core of the PR&G is a planning process to draw out the benefits and costs of a potential water resources investment in an ecosystem services context  Relatively standard set of project evaluation steps, from defining the issue to documenting the decision  Described, quantified, and monetized benefits are considered  Data adjustments allowed on smaller ($ & impact) projects • Agencies have limited flexibility to:  Specify requirements for the project evaluation steps  Define the scale of “smaller” projects and projects below an evaluation threshold  Define included/excluded activities Slide 8
  • 9. Slide 9 United States Department of Agriculture Natural Resources Conservation Service Activities excluded from PR&G  PR&G applies to a broad range of Federal investments that by “purpose, either directly or indirectly, affect water quality or water quantity, including ecosystem restoration or land management activities”  Several exclusions and exceptions to this broad statement • Scale: Lower threshold of $10 million for projects, $50 million annually for programs • Activity: Regulatory activities, Research/monitoring, and emergency actions • Equivalent Pathway: An existing planning process is in place that meets the purpose and intent of the PR&G for Federal investments Slide 9
  • 10. Slide 10 United States Department of Agriculture Natural Resources Conservation Service USDA’s implementation procedures • USDA has limited flexibility to:  Specify standards for the accomplishment of the project evaluation steps • Basically following the requirements of NRCS watershed project planning restructured to conform to an ecosystem services perspective and to reflect the broader objectives  Define the scale of “smaller” projects and projects below an evaluation threshold • Agencies may require a similar analysis for any project broader objectives Slide 10
  • 11. Slide 11 United States Department of Agriculture Natural Resources Conservation Service USDA’s implementation procedures • USDA has limited flexibility to:  Define included/excluded activities at the USDA agency level • Forest Service – Included: » Third-party water infrastructure development on Forest Service Lands with a cost of more than $10 million (rare) » Forest restoration with a water purpose costing more than $10 million (rare event) – Excluded: Land management planning activities and forest related grants programs Slide 11
  • 12. Slide 12 United States Department of Agriculture Natural Resources Conservation Service USDA’s implementation procedures • USDA has limited flexibility to:  Define included/excluded activities at the USDA agency level • Natural Resources Conservation Service – Included: Activities conducted under Watershed Authorities including rehabilitation (note that some RCPP projects rely on these Authorities) – Excluded: Farm Bill Conservation and Technical Assistance Programs and activities under the Emergency Watershed Program Slide 12
  • 13. Slide 13 United States Department of Agriculture Natural Resources Conservation Service USDA’s implementation procedures • USDA has limited flexibility to:  Define included/excluded activities at the USDA agency level • Farm Service Agency – Included: No programs at this time – Excluded: Farm Bill Conservation and Support Programs • Rural Development - Rural Utilities Service – Included: Water and Waste Disposal Loan and Grant Program (analysis conducted at a programmatic level) – Excluded: Technical Assistance, Household water well grants, and planning grants Slide 13
  • 14. Slide 14 United States Department of Agriculture Natural Resources Conservation Service USDA’s implementation status • USDA will publish the procedures as a Departmental Guidance that directs the Agencies to conduct the analysis if needed  Like other aspects of this effort, behind the deadline  The Departmental Guidance will be finalized this fall  NRCS will then revise its internal watershed planning manuals and handbooks to reflect the revised guidance  RD-RUS will develop procedures to incorporate the PR&G in their water related loan programs at a programmatic level  FS and FSA will rarely, if ever, invoke the PR&G process so it will be a revision to policy but likely no other action Slide 14
  • 15. Slide 15 United States Department of Agriculture Natural Resources Conservation Service Wrap-up • The evaluation process for Federal investments in water resources projects is being revised • The revised process includes:  More Agencies and activities  Adopts an ecosystem services approach  Increases project selection alternative options  May be more rigorous for BIG projects (rare at USDA)  May be less data intensive but more ecosystem service driven for small projects (NRCS watershed programs)  Impact of programmatic evaluations is unknown (RD-RUS) • CEQ guidance is final, USDA’s is underway
  • 16. Slide 16 Noel Gollehon Noel.Gollehon@wdc.usda.gov 301-504-1763 Thoughts and opinions presented today are those of the author and do not represent those of USDA or the Natural Resources Conservation Service.