Agenda 03/09/2021 Item #10D (Letter From US Fish & Wildlife Service) Add-On Item 10D
March 9, 2021 BCC Meeting
EXECUTIVE SUMMARY
Recommendation to discuss issues raised in a recent letter from the US Fish&Wildlife Service.
OBJECTIVE: To discuss the recent letter from Kevin Godsea, Refuge Manager, Southwest Florida
Gulf Coast Refuges of the US Fish & Wildlife Service, to the Collier County Planning Commission
regarding the proposed Longwater and Bellmar villages.
CONSIDERATIONS: During its March 4, 2021 regular meeting, the Collier County Planning
Commission was scheduled to hear the applications for the Longwater Village Stewardship Receiving
Area and the Bellmar Village Stewardship Receiving Area. Shortly before this meeting the Planning
Commissioners received a letter dated March 1, 2021 from Mr. Kevin Godsea, Refuge Manager of the
Southwest Florida Gulf Coast Refuge Complex for the US Fish& Wildlife Service, in which Mr. Godsea
urged Collier County to delay permitting these projects for a number of reasons, including waiting until
the federal review process is complete. Before commencing the hearing, in response to a question by the
Chair the County Attorney advised that Planning Commission that unless and until there was Board
action to the contrary,that the applications for these two rural stewardships should continue.
Mr. Godsea has asked me the opportunity to allow him to present his concerns to the Board, following
which I would like to discuss what action, if any the Board should take.
FISCAL IMPACT: None.
GROWTH MANAGEMENT IMPACT: This action will result in no growth management impact.
LEGAL CONSIDERATIONS: This item has been reviewed by the County Attorney. Please note that
F.S. 125.022 (5) states: "For any development permit application filed with the county after July 1, 2012,
a county may not require as a condition of processing or issuing a development permit that an applicant
obtain a permit or approval from any state or federal agency unless the agency has issued a final agency
action that denies the federal or state permit before the county action on the local development permit."
Accordingly, the Board could stay the Longwater and Belmar Village applications for a number of
reasons, so long as the reasons do not fall within this statutory prohibition. With that noted, there are no
further legal issues at this time,with simple majority support needed for Board action. -JAK
RECOMMENDATION: That the Board discuss issues raised in a March 1, 2021 letter from Kevin
Godsea of the US Fish&Wildlife Service.
Prepared by: Penny Taylor,District 4
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FISH AND WILDLIFE SERVICE Er41%.
Southwest Florida Gulf Coast Refuge Complex
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12085 State Road 29S.
Immokalee, Florida 34142
PH: 239-657-8001 FAX: 239-657-8002
March 1, 2021
Collier County Planning Commission
2800 North Horseshoe Drive
Naples, FL 34104
RE: PL20190001836 and PL20190001837, Longwater and Bellmar Village SRA Resolutions respectively
Dear Collier County Planning Commissioners,
The Florida Panther National Wildlife Refuge(FPNWR)is 26,609 acres adjacent to the Rural Land
Stewardship Area (RLSA) and approximately 1.25 miles southwest of the proposed Bellmar Village.
Administered by the US Fish and Wildlife Service,the FPNWR was established in 1989 to assist in the
recovery of endangered species such as the Florida Panther. FPNWR staff have worked cooperatively
with the applicants and other landowners within the RLSA for many years to assist in habitat
management activities across the FPNWR's boundary lines,and more generally, in discussions on how to
keep landscape connectivity for far ranging species like the Florida panther and black bear.
Both of the villages of Longwater and Bellmar are currently under federal review for a more
comprehensive planning approach in the Eastern Collier Multi-Species Habitat Conservation Plan
(ECMSHCP),which would lead to the protection of 106,000 acres within the RLSA. It is preferable to
delay permitting individual developments in the ECMSHCP development area until the Environmental
Impact Statement and Endangered Species Act Section 10 review for the ECMSHCP is completed. In
addition,the County should complete the adoption of the RLSA 5 year review amendments prior to
approving developments within the RLSA so that the County's development permit and RLSA
requirements are not contradictory to the mitigation requirements proposed by the ECMSHCP.
Separate and apart from the Service's work considering the ECMSHCP,the Service has concerns about
the proximity of these developments to the FPNWR that the planning commission should address with
the applicant prior to approval of Longwater and Bellmar villages.
First,the future development within the RLSA, including both Longwater and Bellmar,will encroach
upon several current conservation areas such as the FPNWR. These conservation lands are intensely
managed using prescribed burning to manage the fire-adapted ecosystems for the benefit of wildlife
and to reduce high fuel loads,the latter of which contributes to more catastrophic harmful wildfires.
The Stewardship Sending Areas within the RLSA and adjacent to the proposed developments include
fire-adapted habitats that will need to be managed with silvicultural activities such as prescribed fire and
exotic invasive plant control.
This encroachment toward conservation lands can complicate the appropriate management of the
FPNWR. For instance,the refuge's southern boundary is 1-75, and eastern boundary is State Road 29.
As such,we often have to burn habitats on the refuge with a prevailing southerly or easterly wind
direction.These prescriptions are in place to mitigate risk of serious traffic accidents on those major
roads, and cannot be changed, leaving the locations for high-density residential and commercial
developments in the RLSA directly in the path of our current smoke management protocols. On some
prescribed burns,we will not have the ability to redirect smoke away from the location of these future
developments.
We recommend that all existing and future landowners and leaseholders(e.g., residents, businesses,
health care providers,and homeowner associations)within the RLSA sign an acknowledgement notice
within their deed or lease agreement that recognizes and accepts the use of prescribed fire to manage
the adjacent habitats on both public and private conservation lands. We believe this indemnification is
necessary for fire managers to be held harmless for any adverse impacts from the inconveniences of
smoke produced by prescribed fires, and to ensure that this critically important management tool is not
further limited by new developments.
The Florida Forest Service's Prescribed Fire in Florida Strategic Plan 2013-2020 identified two objectives
to facilitate this action:
4-2 states: "Introduce Smoke Disclosure Language in deed transfers and homeowner association
agreements with county planning,"
4-3 states: "Develop a smoke easement template."
There are a few examples of these Indemnifications being used in other states. I look forward to
working with the Planning Commission,Collier County Commissioners and the Florida Forest Service to
construct the appropriate language for such an instrument prior to any further development of the
RLSA.
Secondly,the application does not address the need for hydrologic restoration of the adjacent Camp
Keais Strand Flowway Stewardship Area. Hydrological restoration of the Camp Keais Strand was
identified as a unique functional group within Southwest Florida Comprehensive Watershed
Management Plan,which the County and Service both participated in.
During this effort, members of local and state agencies, NGOs, and the Federal government made every
effort to take a holistic approach to hydrological restoration. We implore the County and other
regulatory authorities to require the applicants to include wetland restoration activities identified within
the Southwest Florida Comprehensive Watershed Management Plan,especially those within the Camp
Keais Strand functional group.
Hydrologic restoration of the Camp Keais Strand is clearly a component of the RLSA Stewardship Sending
Areas,and is critically important for downstream conservation lands such as the FPNWR. Currently two
farm fields restrict the flowway to a few culverts in a span of 100 yards,whereas restoring these farm
fields back to wetlands would result in a nearly 1 mile wide flowway immediately adjacent to the
proposed Longwater development. The applicant's original plans for the Town of Rural Lands West
included restoring these approximately 935 acres of farmland in the middle of the Camp Keais Strand
Stewardship flowway in SSA15,to benefit the hydrology of downstream conservation lands. This
wetland restoration was not included in the plans for Rivergrass Village, Longwater Village or Belmar
Village, and we believe that it should, as this type of wetland restoration was clearly the intent when the
RLSA was established.
If properly implemented,Camp Keais Strand hydrological restoration activities could ultimately benefit
one of the most biodiverse forested wetlands in the state of Florida (i.e., Fakahatchee Strand),as well as
the Picayune Strand.
In conclusion,we believe the planning commission should take a pause in considering developments
within the RLSA on an individual project approach, and implement a more comprehensive planning
approach. By incorporating our recommendations,we believe that they will: 1) Minimize impacts to one
of the most important land management tools in the state of Florida (i.e.,fire); 2) Protect important
habitats;3) Provide for critically important wetland restoration within hydrologic flowways such as
Camp Keais Strand;4) Improve the quality and quantity of water entering the FPNWR;and 5)Address
the landscape connectivity needs of wildlife such as the Florida panther and black bear.
Sincerely,
Digitally signed by Kevin
Kevin Godsea Godsea
Date:2021.03.01 1354:16
-05'00'
Kevin Godsea
Refuge Manager
Southwest Florida Gulf Coast Refuges
Cc: Ray Bellows, Planning Commission Liaison
Nancy Gundlach, Principle Planner
CorbySchimidt, Principle Planner
Matthew McLean,Director, Development Review
Kirsten Wilkie, Environmental Services Manager
Jamie Cook, Principal Environmental Specialist
James Sabo,AICP, Principal Planner
Michael Sawyer, Principal Planner