Great River Hydro, LLC (“Great River Hydro”) is the owner and licensee of the Wilder Hydroelectric Project (FERC No. 1892), the Bellows Falls Hydroelectric Project (FERC No. 1855), and the Vernon Hydroelectric Project (FERC No. 1904). The current licenses for these projects each expire on April 30, 2019. On October 31, 2012, TransCanada initiated the Integrated Licensing Process by filing with the Federal Energy Regulatory Commission (“FERC” or “Commission”) its Notice of Intent to seek new licenses for each project, along with a separate Pre-Application Document for each project.
With this filing, Great River Hydro submits its March 8, 2018 Updated Study Results Meeting Summary for the three projects, as required by 18 C.F.R. §5.15(c)(3) and the Commission’s current Process Plan and Schedule (dated February 15, 2018). The meeting for the Updated Study Reports filed between May 1, 2017 and February 9, 2018 was held at Great River Hydro’s Renewable Operations Center in Wilder, Vermont, with teleconference and call-in capability for participants who could not attend in person.
Below is a comment excerpt:
ILP Schedule – Brandon Cherry reviewed the Revised Process Plan and Schedule FERC issued on February 15, 2018, noting that GRH is required to file a progress report on May 15, 2018 and every 90 days thereafter until studies 9 and 24 are completed. The progress report is to include the status of study 33 – Cultural and Historic Resources Study.
Study 33 – Cultural and Historic Resources Study – Rich Holschuh concurred that this study is still open and indicated that while the draft TCP includes timetables for consultation, no consultation has taken place. John Ragonese disagreed that no consultation had occurred, citing several meetings with native American tribal leaders and informational resources but recognized the present open status of the study. He said the Programmatic Agreement (PA) and Historical Properties Management Plan (HPMP) are in development and will be shared for comment and review. The PA is a signed agreement among affected parties that usually includes SHPO’s, licensee and federal tribe(s). GRH suggests that no federal tribe is affected by this PA, but local tribes are and therefore should be included. The PA will reference the HPMP which includes details of how properties will be managed.