Virginia Regulatory Town Hall
Agency
Department of Professional and Occupational Regulation
 
Board
Board for Professional Soil Scientists, Wetland Professionals, and Geologists
 
chapter
Regulations Governing Certified Professional Wetland Delineators [18 VAC 145 ‑ 30]
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8/20/23  2:21 pm
Commenter: Thaddeus Kraska, PWS, PWD - Townes Site Engineering, PC

I STRONGLY SUPPORT Professional Wetland Delineators in Virginia
 

I STONGLY SUPPORT the continued regulation of Certified Professional Wetland Delineators (PWD) by the Commonwealth of Virginia’s Department of Professional and Occupational Regulation (DPOR) in its current form.  As one of the first Professional Wetland Delineator (PWDs) in the Commonwealth (PWD# 3402000004), I take great pride in this program and in the quality work my fellow PWDs perform across the state.  While I am also a certified Professional Wetlands Scientist (PWS) [# 3043] through the Society of Wetland Scientist's (SWS) Professional Certification Program, it is the Virginia’s PWD certification which I am most proud.  It expresses my skill set as a wetland delineator and gives my clients comfort that the work my staff and I perform is of the highest quality. 

Certification of PWDs is necessary to protect the Commonwealth and its citizens and continues to satisfy the 4 criteria required for an occupation to be regulated (§54.1-100):

  1. The unregulated practice of the occupation can harm public health, safety or welfare.

Prior to the PWD certification, instances of delineations performed in Virginia by unqualified individuals resulted in permitting issues and lawsuits against both the regulatory authorities and the individuals who performed the work.  The Association of State Wetland Manager’s 2007 State Wetland Delineator Certification Programs article describes that “wetland delineations are generally required for dredge and fill permits. An inaccurate delineation can delay a permit application.”

Worse, an inaccurate delineation, or poor understanding of Virginia regulations, can not only be costly to the permittee, but ultimately increases the onus of regulators with limited staff and time increasing permit issuance backlogs.  Removing and/or reducing the scope of the Professional Wetland Delineator certification will increase the likelihood that all development projects, including key infrastructure projects, are delayed which decrease the attractiveness of Virginia to investors in key sectors like energy, transportation, utilities, and data centers and INCREASES the regulatory burden on permit applicants.

The practice of not accurately identifying wetlands can affect the protection of water resources within the Commonwealth, resulting in the unregulated loss of wetlands, thus decreasing water quality, effecting the quality of drinking water supplies, and negatively impacting Eco-tourism.

The importance of trained professionals in delineation has recently been reaffirmed at the state level by the establishment of the new Virginia State Waters Delineator (VSWD) Certification Program though the Virginia Department of Environmental Quality (VDEQ).  This new certification recognizes the PWD certification as a critical component to assuring reliable and consistent identification of State Surface Waters, as holding a PWD certification is a prerequisite to the State Waters Delineator Certification.

  1. The occupation’s work has inherent qualities that distinguish it from other occupations.

Virginia has one of the oldest, active wetland delineator certifications in the United States and the only such certification that requires proficiency in botany, soil science, hydrology, and federal and Virginia regulations.  No other occupation requires these proficiencies, and there is not a federal wetland delineator certification or equivalent certification.

  1. The public needs and will benefit from state assurances of competency.

The public needs and will benefit from state assurances of competency because Virginia regulates and requires permits for impacts within wetland and surface water boundaries currently unregulated at the Federal level. The U.S. Army Corps of Engineers does not confirm the boundaries or permit impacts to isolated wetlands or ephemeral streams.  There are no certification programs aside from the PWD which can provide assurances of competency in the practice of wetland delineation and regulatory interpretation and permitting in Virginia.

Using a certified PWD reduces the risk and harms which can be caused by improper delineation and poor regulatory applications and helps assure potential Virginia economic investors that their projects can move through the permitting process on schedule.  It reduces their permitting burden and reduces undue costs and delays.  Accurately identifying wetlands and waters affects the protection of water resources within the Commonwealth, helps mitigate unregulated loss of wetlands, and helps to maintain water quality, effecting the quality of drinking water supplies, and generating revenue from Eco-tourism.

In light of the recent changes in federal regulation resulting from Supreme Court Decision in the Sackett vs. EPA Case, permitting timelines have been thrown into limbo, with the U.S Army Corps of Engineers temporarily declining to provide Approved Jurisdictional Determinations of wetland delineations.  To keep wetland permitting moving forward at the state level, the VDEQ has begun implementing its new Virginia State Waters Delineator (VSWD) Certification program, which requires that a VSWD have a PWD certification in addition to a stream identification and assessment certification.  The DEQ has announced that wetland and stream delineations performed by certified VSWD will be provided expedited 30-day review under the Permitting Enhancement and Evaluation Platform (PEEP) tracking program, while wetland and stream delineations performed by non-VSWD certified practitioners will not have any assurances of this expedient review.  Keeping the PWD certification will be critical to providing more certainty and timely reviews in the state project permit review process.

  1. The public is not protected by other means.

No other certification program provides assurances of competency in the practice of wetland delineation and regulations in Virginia.  There is not a federal wetland delineator certification or equivalent.  The Society of Wetland Scientists (SWS) international Professional Wetland Scientist (PWS) certification does not require any specific proficiency related to wetland delineation or regulation.  It does not even require knowledge about wetlands in the United States!  Per the PWS certification application website, the SWS Professional Certification Program “recognizes that Professional Wetland Scientists will have an extremely broad range of technical specialties.”  In a previous review of the PWD certification, the 2020 Joint Legislative Audit and Review Commission (JLARC) Report evaluation of the need for continued regulation of the PWD certification (RD690) incorrectly asserts that the PWD certification is unnecessary as there is an equivalent national certification program (i.e. the Professional Wetland Scientist [PWS] certification through the Society of Wetland Scientists); that the PWS certification provides the same level of assurance to consumers and the public.  It does not.  One can receive the PWS designation without ever conducting a wetland delineation, without any familiarity in federal wetland delineation guidance/requirements, and/or without familiarity with application of the Clean Water Act or Virginia-specific regulations.  The PWS certification does not provide the Virginia regulated public assurance that their project will receive an accurate delineation or be guided through the Virginia and Federal regulatory process appropriately because they are not a requirement to receive the PWS designation.

Please review the 2007 Association of Wetland Managers article entitled State Wetland Delineator Certification Programs.  There have been past assertions that the PWS national certification provides the same level of assurance to consumers and the public. The PWD and PWS certifications are NOT substantially similar and the PWS certification does NOT provide Virginia consumers with the same assurances in certifying the competencies of an individual in the practice of wetland delineations within the Commonwealth.

In conclusion, the PWD certification is necessary for the Commonwealth of Virginia because it protects the public from inadequate delineations, avoids costly errors in development, reduces permitting backlog for regulators, and ensures protection of wetland resources and the Virginia economy.  There are no other certification programs that can provide assurances of competency to perform this work.  I urge DPOR to acknowledge the value of the PWD and recommend the continuation of the Virginia Professional Wetland Delineator Certification.

Thank you for your consideration of these comments. 

Thaddeus J. Kraska, PWS, PWD                                               

Director of Environmental Services

Townes Site Engineering, PC                                                                   

Virginia Certified Professional Wetland Delineator, No. 4 

Professional Wetland Scientist, No. 3043

CommentID: 219449