HomeMy WebLinkAbout11.212024 Board Correspondence FW_ Part 12 Consultant Safety Inspection Reports submitted in FERC P-2088-000 by Individual No Affiliation,et al.From:Clerk of the Board
To:BOS
Subject:Board Correspondence FW: Part 12 Consultant Safety Inspection Reports submitted in FERC P-2088-000 by Individual No Affiliation,et al.
Date:Thursday, November 21, 2024 10:02:13 AM
Please see Board Correspondence.
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Subject: Part 12 Consultant Safety Inspection Reports submitted in FERC P-2088-000 by Individual No Affiliation,et al.
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On 11/21/2024, the following Filing was submitted to the Federal Energy Regulatory Commission (FERC), Washington D.C.:
Filer: Individual No Affiliation
South Feather Water & Power Agency (as Agent)
Docket(s): P-2088-000
Lead Applicant: South Feather Water & Power Agency
Filing Type: Part 12 Consultant Safety Inspection Reports
Description: South Feather Water and Power Agency submits status updates on the recommendations from the Twelfth Part12D Safety Inspection Report re the South Feather Power Project under P-2088.
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November 21, 2024 Filed Electronically
Frank L. Blackett, P.E., Regional Engineer
100 First Street, Suite 2300
San Francisco, CA 94105
RE: South Feather Power Project (FERC No. 2088)
Status update on Plan and Schedule in response to the 2022/Twelfth Part 12D Independent Consultant’s
Safety Inspection and Addendum No. 3 to the PFMA Report recommendations
Dear Mr. Blackett,
This letter provides updates to the Agency’s previously submitted plan and schedule to address proposed
corrective measures outlined in the Twelfth Part 12D Independent Consultant’s Safety Inspection Report for
Little Grass Valley Dam, Sly Creek Dam, Lost Creek Dam, Ponderosa Diversion Dam, Miners Ranch Dam
transmitted to the Commission on January 27, 2023.
Attached you will find detailed status updates on the recommendations broken down by facility, and then by
summary of actions to address the recommendations. Over the past four years, the Agency has been working
diligently with a number of consulting teams to bring our dam safety program into compliance. Due to the
interdependent nature of these dam safety compliance updates and components of the Part 12D
recommendations, the Agency has missed some of the deadlines originally provided in the January 2023 Plan
and Schedule. The below table provides a snapshot of what the Agency is requesting for time extensions in order
to complete the remaining items currently scheduled for work (inspections, assessments, data compilation and
technical memos) during the next few months.
Location Completed In Progress
Little Grass Valley Dam 35 29 6 1 5
Sly Creek Dam 34 31 3 1 2
Lost Creek Dam 34 29 5 4 1
Ponderosa Div Dam 24 18 6 3 3
Miners Ranch Dam 32 30 2 1 1
Supporting documents and/or reports that will be filed under CEII designation have been reviewed by both the
Chief Dam Safety Engineer or Chief Dam Safety Coordinator. We concur with the findings and content of the
reports.
If you have any questions related to this transmittal, please feel free to contact me at (530) 534-1221 x 265, or
via email at kmckillop@southfeather.com.
KRISTEN MCKILLOP
REGULATORY COMPLIANCE MANAGER
Document Accession #: 20241121-5064 Filed Date: 11/21/2024
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Sincerely,
South Feather Water and Power Agency
Attachments: CUI//CEII documents submitted separately
cc: Rath Moseley, General Manager
Dan Leon, Power Division Manager
Silas Sanderson, PE, Chief Dam Safety Engineer
Document Accession #: 20241121-5064 Filed Date: 11/21/2024
Document Content(s)
to FERC_11212024_Twelfth Part 12D CSIR Corrective Measures Status
Report.pdf................................................................1
Document Accession #: 20241121-5064 Filed Date: 11/21/2024