On May 25, 2023, ECOS submitted a letter of our Comments on the Draft Environmental Impact Report, City of Sacramento Groundwater Master Plan Well Replacement Program (DEIR).
Tag Archives: Groundwater
Comments regarding sufficiency of South American Groundwater Sustainability Plan
April 15, 2022
Here is a summary of our comments:
1) We find the climate change analysis used as the basis for the GSP is not sufficiently robust to reflect currently anticipated climate change conditions for the region. The analysis does not reflect current science. For this reason, we suggest DWR provide more direction in this area for future GSP updates.
2) We believe a review of the GSP utilizing Article 6, Section 355.4 finds the plan deficient in several important areas. Our findings are listed in more detail below. DWR should work with the subbasin GSAs to address the shortcomings described below before approving the GSP.
Regional Groundwater Sustainability – The Plans are Finished so what’s Next?
Over the past several years local Groundwater Sustainability Agencies (GSAs) charged with managing the region’s groundwater have been assessing the condition of the region’s groundwater resources and developing monitoring systems and management plans and projects to maintain the sustainability of these resources for the foreseeable future. These efforts have resulted in the completion of three Groundwater Sustainability Plans (GSPs) that cover each of the region’s groundwater subbasins – North American Subbasin, South American Subbasin, and Cosumnes Subbasin. The GSPs respond to State required planning criteria outlined in the 2014 Sustainable Groundwater Management Act (SGMA). The California Department of Water Resources webpage has information about SGMA, the GSP planning process, and a public portal containing the three GSPs for the Sacramento region.
ECOS, through the Water Committee, has participated in the development of these GSPs by attending public meetings and workshops, and providing comments on the draft plans. We have condensed these comments into a matrix comparing comments for each of the three GSPs. The matrix contains a summary of each original comment and, in bold, the actions taken by the GSAs to address each comment as documented in the final adopted GSPs. The full text of each ECOS comment letter can be found on the ECOS web site.
While some comments have been addressed in the final plans, others were not. For example, key aspects of the GSPs are six sustainability indicators that establish thresholds for when management actions must be taken to assure continued subbasin sustainability. The North American Subbasin GSP calls for management actions to be taken after one year of one or more of the GSP sustainability indicators exceeding action levels thus indicating the subbasin is in trouble. Unfortunately, the South American Subbasin allows three years of indicator exceedance that may lead to no actions being taken until the fourth year of an indicator being exceeded. The Cosumnes Subbasin did adjust their corresponding exceedance time periods but still allow a problem to exceed one or more threshold criteria for at least two years before actions to remedy the situation are taken. ECOS has argued that a one year exceedance criteria is acceptable and should be utilized in all three GSPs.
ECOS also believes climate change is not effectively addressed in the plans. All three GSPs base their management actions on a climate scenario that seems less realistic than current climate experience and the latest climate science indicates. This errant planning assumption may significantly overestimate the amount of groundwater available to meet demands in the future. If not corrected, sustainable management of the subbasins may be very difficult within the next decade.
ECOS members are meeting with the local GSA representatives to explore options to address our concerns prior to the next GSP updates which are due in 2025. Depending on the outcome of these meetings ECOS may find it necessary to participate in the State’s GSP public comment process.
Looking at Water in Sac County’s Climate Action Plan
On March 22, 2022, the Environmental Council of Sacramento, the Sacramento Valley Chapter of the California Native Plant Society, the Sacramento Audubon Society, the Sierra Club Sacramento Group, and the Xerces Society submitted a joint letter regarding water issues in the County Action Plan of Sacramento COunty.
Comments on the Cosumnes Subbasin Groundwater Sustainability Plan
On October 15, 2021, ECOS and Habitat 2020 submitted Comments on the Cosumnes Subbasin Groundwater Sustainability Plan Public Draft (GSPPD) dated 8/20/2021.
Comments on the North American Subbasin draft Groundwater Sustainability Plan
On October 14, 2021, ECOS and Habitat 2020 submitted comments on the North American Subbasin (NASb) draft Groundwater Sustainability Plan (GSPD).
ECOS commends the effort of the North American Subbasin Groundwater Sustainability Agencies (GSAs), and their consultants, for involving the public and in preparing the GSPD. The GSPD provides both a technical and lay understanding of the North American Subbasin (NASb) and how groundwater moves within it. The GSPD is an important reference document that brings together a wealth of information in one place. With additional information, projects and management Actions recommended below, the GSPD will present a clear direction for the subbasin’s sustainable groundwater management.
Click here to read the letter.
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