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http://users.sisqtel.net/armstrng/opinion121812.html Instream Flow Study on Scott and Shasta Rivers
by Marcia Armstrong, Siskiyou County Supervisor District 5
Recently, Normandeau, a contractor
for the California Department of Fish and Game (DFG,) held a
series of meetings to begin a “data needs assessment” and to
recommend a plan of study regarding instream flows on the Scott
and According to the CA Public Resources Code (PRC
10001,) the Legislature determined that there had been an
increase in requests for new water use permits in streams that
could have a cumulative impact on streamflows needed for fish
and wildlife. The code requested the DFG Director to create a
ranked list by 1984 of significant streams where establishment
of minimum flow levels was needed. PRC 10002 and 10004 require the DFG
Director to initiate studies to develop proposed streamflow
requirements, specified in terms of cubic feet of water per
second, for each stream identified. The Director is then to
transmit these proposed requirements to the State Water
Resources Control Board (SWRCB.) The requirements are to be
considered by the SWRCB for any permit application, transfer,
extension, or change of point of diversion, place of use, or
purpose of use, if there is a diversion of water from any
waterway where fish reside. This code supposedly justifies the
initiation of the study plan for streamflow requirements in the
Scott and Shasta. One glaring problem with this is that the
Scott and the According to the presentation by Normandeau,
the problem identification has already been accomplished. It is
described as” limiting factors” for “declining” Coho salmon
including: water temperature; groundwater extraction or
interception of springs; loss of flood plain connectivity;
altered flow regime; Lack of riparian vegetation; fish passage
barriers; nutrient loading; recruitment of spawning gravels;
siltation of gravels and low dissolved oxygen. Presumably, all
of these can be solved if the fish just had more flows. Lots of
blanket assumptions there. As the DFG invitation and news
release explains “The studies will allow DFG to recommend
streamflows that protect fish while minimizing impacts on water
diversions to best serve all stakeholders.” Woa there! (1) This implies that there will
be an impact on diversions of adjudicated water rights. (2) This
implies that water use will be reallocated to best serve all
“stakeholders,” regardless of whether they have a property right
in use of the water. (And I thought property ownership was the
right to exclusive use, enjoy and dispose of property.
Apparently, individual ownership rights have now been replaced
by the will of “stakeholders.”) Because we were settled during the CA Gold
Rush, the majority of water rights in the Scott and Shasta were
acquired before 1900 – either by patent of riparian land or by
“appropriation” (diversion and beneficial use.)
It was not until 1911 that the CA
Legislature declared that "all water or use of water within the
state of It is hard to argue now that these pre-1914
rights are subject to some sort of “public trust” interest to
“best serve all stakeholders” when these privately owned surface
water rights predate any ownership claim by the People of the
State. It is also interesting to note that the DFG
actually applied for instream flow rights for fish when Curt Thalken of Normandeau indicated that stakeholder interests would engage in “negotiation” to resolve issues and determine flow strategies. Article 1 of the California Constitution declares acquiring, possessing, and protecting property as an “inalienable right.” Why is a State agency pressuring property owners to negotiate their exclusive property rights with special interests? Why isn’t the agency respecting, protecting and defending individual property and due process rights? ==================================================== In accordance with Title 17 U.S.C. section 107, any copyrighted material herein is distributed without profit or payment to those who have expressed a prior interest in receiving this information for non-profit research and educational purposes only. For more information go to: http://www.law.cornell.edu/uscode/17/107.shtml |
Page Updated: Tuesday December 18, 2012 12:18 AM Pacific
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