Mashkiiziibii Natural Resources Department Decision in Support of Categorical Exclusion (2025)

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Mashkiiziibii Natural Resources Department Decision in Support of Categorical Exclusion

Determination:

Right-of-Way Application for Enbridge’s Log Jack Bank Stabilization Project at a Meander of the

Mashkii Ziibii (Bad River)

I.

Introduction

Enbridge Energy, Limited Partnership (“Enbridge”) has submitted a Right-of-Way (ROW) Application and

associated materials as required by the Bad River Band of Lake Superior Tribe of Chippewa Indians

(“Band” or “Tribe”) Chapter 4.07 Energy Product Facility Rights of Way and Service Lines Code 1 to install

erosion-management structures called “log jacks” on up to approximately 562 linear feet of the Bad

River riverbank within the Bad River Reservation. Substantial bank erosion has occurred at this

meander—most recently during the spring of 2023 when river flows overtopped the riverbank into the

floodplain three successive times—leaving only 10-11 feet of bank between the Bad River and the Line 5

oil and natural gas pipeline at the closest location. As the natural erosion and meandering of the

riverbank closer to the pipeline continues, the pipeline will eventually become exposed, which increases

the risk of an oil spill.

Enbridge is proposing the project in an effort to prevent the exposure of the Line 5 pipeline.

Enbridge is requesting approval to: (a) initially install log jacks along approximately 309 linear feet of the

Bad River bank (0.33 acres of fill); (b) implement an adaptive management strategy to potentially add or

remove log jacks in the future, dependent upon bank conditions and in coordination with MNRD, along

up to an additional 253 linear feet of riverbank (includes both upstream and downstream extents) (0.60

acres of fill); (c) access the project site to complete monitoring and maintenance activities; (d) remove

the log jacks within the project duration of one to three years as stated in the land use application

submitted by Enbridge for the log jack project; and (e) utilize 0.190 acres on Trust Land as a

construction easement, which is a portion of the temporary workspaces required for the log

jack project. The total length of riverbank on which Enbridge proposes to install log jacks, including

both the area where the log jacks are proposed to be initially installed and the adaptive management

area, is thus potentially as much as 562 linear feet of the Bad River bank (0.93 acres of fill). The

approximate geographic extent of the proposed ROW is shown in Figure 1.

Note: this proposal is for a 2-year right-of-way only in order to cause Enbridge to mitigate potential

damage to this waterway, a matter of urgent concern for the Tribe. It does not in any way affect the Tribe’s

pending litigation with Enbridge, nor will it give Enbridge permission to keep Line 5 in place long-term.

Mashkiiziibii Natural Resources Department (MNRD) has the responsibility to perform the

environmental reviews and other environmental functions required under Chapter 4.07 pertaining to

ROWs. MNRD’s preliminary determination is that this specific proposed ROW qualifies for a categorical

exclusion to the requirement of a full environment review statement as provided in Sec. 4.07.050(b),

and this document describes MNRD’s rationale for this preliminary determination, along with MNRD’s

preliminary recommendations to avoid, minimize, and mitigate the potential impacts to the natural and

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Formerly labeled as Chapter 423 of the Bad River Band of the Lake Superior Chippewa Indians Tribal Code.

Draft, 1/28/2025

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MNRD Decision in Support of Categorical Exclusion Determination: Right-of-Way Application

for Enbridge’s Log Jack Bank Stabilization Project at a Meander of the Mashkii Ziibii (Bad

River)

cultural resources. Potential impacts to the natural and cultural resources may include direct, indirect,

or cumulative impacts. Timeframes of potential impacts include the following phases: construction,

which consists of the initial installation of log jacks within the river and future installation and/or

removal of log jacks within the river as part of the adaptive management approach dependent upon

how site conditions may change; operation, including monitoring of the log jacks and site conditions;

maintenance of the log jacks and/or associated access and staging areas; and removal of the log jacks

and comprehensive restoration of site conditions.

Figure 1: Enbridge has a proposed ROW associated with their log jack project to a Bad River Reservation

Tribal River and Land location. The approximate geographic extent of the log jack project is shown

above, and the approximate geographic extent of proposed ROW includes the majority of the area

shown in the figure that is east of Government Road.

Draft, 1/28/25

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MNRD Decision in Support of Categorical Exclusion Determination: Right-of-Way Application

for Enbridge’s Log Jack Bank Stabilization Project at a Meander of the Mashkii Ziibii (Bad

River)

II. Categorical Exclusion Determination

Section 4.07.050(b)(1), Categorical Exclusions, provides:

Except as provided in subsection (c), the approval of the following categories are excluded from the

environmental review requirement:

(J) Cleanup actions taken under the supervision of the Tribe to avoid, minimize, stabilize, mitigate,

or eliminate the release or threat of release of an existing hazardous waste or substance;...

This categorical exclusion can be used where the Tribe seeks to address the following circumstances: (a)

when a release or spill of a hazardous waste or substance has already occurred and action is needed to

clean up, mitigate, and/or other necessary actions to address the spill; and (b) when there is a threat of

a release or spill of hazardous waste or substance and action is needed to avoid, minimize, eliminate,

and/or other necessary actions to address the threat of a spill.

The proposed project is associated with Enbridge’s Log Jack Project to stabilize a portion of a bank of

Mashkiiziibii (Bad River) by installing log jacks for a duration proposed by Enbridge of one to three years.

Enbridge’s proposed project is aligned with the log jack concept described in the letter from Chairman

Blanchard to Enbridge (dated July 7, 2024) to protect the pristine natural of Mashkiiziibii and her

wetlands as Enbridge perpetuates its trespass 2 within the Reservation. Although Enbridge is the project

proponent and Enbridge responsible for the design, implementation, maintenance, and removal of the

log jack project (including the proper disposable of all project materials), the Tribe has regulatory

oversight as the project is located within the exterior boundaries of the Bad River Reservation.

MNRD has determined that this project should be considered not as a pipeline maintenance project, as

Enbridge proposed in its project review application materials, but a response action undertaken to

alleviate a release into the environment of hazardous substances, pollutants, or contaminants which

pose an imminent and substantial danger to public health and welfare, given that:

o Substantial bank erosion has occurred at this meander over the decades. The closest

distance between the middle of the 30-inch diameter Line 5 oil and natural gas pipeline and

the riverbank was roughly 320 feet about 9 years after the pipeline was constructed, and

this distance was reduced to approximately 80 feet by 2015. Most recently substantial bank

occurred at this meander during the spring of 2023 when river flows overtopped the

riverbank into the floodplain three successive times—leaving only 10-11 feet of bank

between the Bad River and the pipeline at the closest location.

o While the Tribe and Enbridge have litigated over a ROW in federal court, Enbridge has been

adjudicated to be in trespass on the Reservation and has been ordered to cease operations

Chairman Blanchard’s letter to Enbridge (dated July 7, 2024) states “[w]hile the Band believes that Enbridge

should promptly eliminate those risks by ending its trespass and leaving the watershed, I write today on behalf of the

Band to inform you of a potential design...to protect the pristine nature of Mashkiiziibii and her wetlands for so long

as Enbridge perpetuates its trespass.” The risks referenced in this statement is the risk the continued operation of

Line 5 has on the river, the functioning of her floodplain, hunting, fishing and gathering in the river and within her

floodplain and connected wetlands, and the aquatic life and wildlife who depend upon her.

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Draft, 1/28/25

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MNRD Decision in Support of Categorical Exclusion Determination: Right-of-Way Application

for Enbridge’s Log Jack Bank Stabilization Project at a Meander of the Mashkii Ziibii (Bad

River)

on the Reservation, MNRD and its technical experts continue to have concerns that the

court-ordered modifications to Enbridge’s purge and shutdown protocol are not

appropriately protective for the remaining 17 months before the order goes into effect.

While MNRD has determined that this action qualifies for categorical exclusion, additional justification

and required mitigation is appropriate in this matter, given the nature and location of the project and

other factors. The applicant must abide by all requirements herein to avoid, minimize, and mitigate

impacts.

III. Analysis

As provided in Sec. 4.07.050(a)(2), Interests Addressed Under the Environmental Review, MNRD finds as

follows:

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(A) the potential impact on public health or safety;

• Timeframes of potential impacts include the following phases: construction, maintenance,

monitoring, operation, removal, and decommissioning. The timeframes of potential impact

likely will not have adverse impacts on public health or safety as long as appropriate

avoidance, minimization, and mitigation measures are taken.

• With respect to construction, future maintenance activities, and decommissioning, MNRD

recommends that Enbridge is required to provide their safety plan and Safety Data Sheets

for materials used on-site. MNRD also recommends that Enbridge is required to promptly

report any safety issues to Tribe’s Fire Chief, Chief Conservation Warden, and MNRD within

24 hours of the incident; this includes incidents to any person, pipeline, and easement. With

respect to operation, health and safety concerns are related to potential methane leakage

or a crude oil spill. Containment measures for spills or releases of hazardous materials or

substances, including oil, in addition to those which are used for the protection of water

quality, must be utilized during this work as it will be completed next to and over an active

pipeline. All measures for appropriate site containment must also be on-hand and readily

available for use during the duration of this project.

• Potential staging locations on-Reservation for emergency response equipment must be

provided to MNRD for review and approval. These locations must have lists of what

equipment will be on-hand, and travel times to control points on the Bad River. Choosing

staging locations must consider the length of time needed for mitigation actions to begin, as

to reduce contamination to as much of the river as possible in the event of a spill. MNRD is

currently reviewing the potential daytime staging locations provided by Enbridge on January

23, 2025.

• To minimize risks to public health and safety due to helicopter use and transport of heavy

loads, Enbridge’s protocols regarding the Helicopter Transport Services (HTS) Rigging and

Execution Plan must be followed along with the relevant conditions in the water-related

approvals and permits. As activities associated with the project will be occurring next to and

over an active pipeline, there are serious risks to public health and safety if a spill does

occur. To ensure a threatened or potential release does not become actualized during this

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MNRD Decision in Support of Categorical Exclusion Determination: Right-of-Way Application

for Enbridge’s Log Jack Bank Stabilization Project at a Meander of the Mashkii Ziibii (Bad

River)

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project, Enbridge must consult with the Bad River Band of Enbridge’s current control points

within the Reservation during project construction, operation, maintenance, and removal.

Before construction begins, Enbridge must provide a project-specific emergency response

action plan that includes details of control points, response actions, response equipment,

and a plan to respond to unplanned log jack release during helicopter transport in a manner

that minimizes adverse environmental effects. MNRD is currently reviewing the Emergency

Action Response Plan provided by Enbridge on January 24, 2025, and MNRD and/or the

Band will request any modifications to the plan necessary to protect public health or safety.

Enbridge must revise the plan and/or provide adequate justification explaining why

revisions were not made to the satisfaction of the Band.

The geographic extent of the proposed ROW does not cross the location of any known

brownfield sites (Bad River, 2025).

The Band is concerned about Missing and Murdered Indigenous Women – a social plague

that seems to increase at pipeline construction sites. The Band is considering conditions that

should be added to the ROW agreement (if approved) to address and prevent this terrible

threat to the tribal community.

The Tribe identified the need to incorporate conditions in ROWs to brush and

to complete other activities in a manner to prevent fire or spread of fire as a medium

priority measure to mitigate future wildlife impacts (Bad River, September 2018). Below are

MNRD’s recommendations on the ROW conditions to reduce the risk of wildfire:

 A fire extinguisher and shovel must be included in each field vehicle’s safety

equipment supply and available on each work site. A field vehicle is defined here

as a four-wheeled or tracked-vehicle that leaves a road or left on the road if

field work is performed on foot.

 Vehicles must not be parked or idled above dry grass, vegetation, or brush. All

trailer chains must be secured and not in contact with the ground. Any

generated slash or trimmings shall be dispersed following the lop-and-scatter

method3 so that fuel loading in any single location is not significantly increased.

 Work area must be clear of flammable materials before field metal

welding/cutting/grinding operations, a sprayer must be used to wet down the

work area prior to starting, water must be kept on hand and a spotting person

must be designated to immediately catch any sparks that could ignite dry fuels.

 Fueling of vehicles must take place off-site, if practicable, but if it is necessary to

fuel in the field, fueling must be done in an upland location using secondary

containment and over gravel, rock, or bare dirt.

 During elevated fire danger (High, Very High, or Extreme), grubbing and mowing

activities must be delayed until safer conditions exist. Spark arrestors are

required on all portable gasoline-powered equipment. Field staff must refrain

from smoking. Enbridge must check local fire danger conditions daily.

The University of Idaho Extension provides an example of how to reduce the fire risk for slash:

https://www.uidaho.edu/-/media/UIdaho-Responsive/Files/Extension/topic/forestry/f12-forest-fire-risk-reductionfor-slash.pdf?la=en&hash=1C2A6E8569310F63DCD30BE1099B7356257B30FE.

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Draft, 1/28/25

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MNRD Decision in Support of Categorical Exclusion Determination: Right-of-Way Application

for Enbridge’s Log Jack Bank Stabilization Project at a Meander of the Mashkii Ziibii (Bad

River)

These conditions exist to address the growing concerns of wildfire in the region

and are subject to change as further information is received and evaluated.

MNRD expects Enbridge to follow federal law in 49 C.F.R. Part 195 from 10/1/2019 that

concerns Safety of Hazardous Liquid Pipelines.

Refer to Section N regarding safety concerns relevant to the transportation networks

including roads and the Bad River.

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(B) the potential impact on sites that are sacred or of cultural significance to the Tribe;

• The Natural Resources Director consulted with Tribal Historic Preservation Officer (THPO),

and MNRD hired a contractor to help the Department implement a cultural resources survey

due the inadequacies of surveys or studies completed by Enbridge and its contractors.

• Potential impacts on sacred or culturally significant sites can be avoided, minimized, or

mitigated by following the conditions listed in the Bad River THPO Section 106 NHPA

Compliance Form (dated 1/9/2025). This form was sent to the BIA on 1/13/2025. MNRD

recommends that the conditions on the THPO Compliance form (dated 1/9/2025) are

incorporated into the ROW agreement (if approved). These conditions are summarized

below:

 A minimum of two Tribal Monitors must be present during earth disturbing

activities, the placement and removal of the log jacks, and other activities as

deemed necessary by the THPO during the duration of the proposed ROW to

observe for archeological anomalies. Enbridge must reimburse the Tribe for the

associated costs in accordance with the most current version of the THPO Fee

Scheduled of Services: https://www.badriver-nsn.gov/wpcontent/uploads/2023/08/Fee-Schedule-for-THPO-ConsultantServices_2023.08.02.pdf.

 An Archeologist, who is hired by the Band, must be on-call during the work and

must complete intermittent site visits. The field scheduled for the Archaeologist

necessary to protect the cultural resources and uses must be determined by the

THPO. Enbridge must reimburse the Tribe for the associated costs in accordance

with the most current version of the THPO Fee Scheduled of Services:

https://www.badriver-nsn.gov/wp-content/uploads/2023/08/Fee-Schedule-forTHPO-Consultant-Services_2023.08.02.pdf.

 Following the Tribe’s process if inadvertent discovery occurs, including

immediately stopping work and contacting the MNRD Director and THPO and

implementing the Tribe’s no removal policy for inadvertent discoveries;

 Visually investigated for any potential hibernating wood turtles and properly

relocating them from the project area and implementing other measures

necessary to protect wood turtles.

 The log jacks and all associated materials and any other materials introduced by

the project proponent during any phase of the ROW (if approved) must be

removed by September 30, 2026; and

Draft, 1/28/25

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MNRD Decision in Support of Categorical Exclusion Determination: Right-of-Way Application

for Enbridge’s Log Jack Bank Stabilization Project at a Meander of the Mashkii Ziibii (Bad

River)

Implementing other conditions that the THPO deems necessary to protect the

cultural resources and historic properties during the adaptive management and

removal phases.

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(C) the potential impact on sites used by Tribal Members for hunting, fishing, gathering, cultural

practices, religious activities or recreation;

• Due to the proximity to the river and topography of the river bank, there would be minimal

impacts to hunting caused by the log jack structures; however, the installation,

maintenance, and removal phases of the log jacks would have impacts affecting the ability

of tribal members to hunt and fish in the area due to a variety of factors (e.g., access

restrictions, noise, disturbances, etc.).

• During all phases of the project where there is in stream work there will be impacts to fish

movement through this area having impacts to tribal members fishing the river.

• See Section B regarding cultural practices and religious activities.

• See Section G regarding medicinal plants and recommendations to avoid, minimize, and/or

mitigate the impacts to tribal members’ gathering of these plants.

• The river is used recreationally throughout the different seasons. Impacts to recreational

activities are likely to be limited to the installation, maintenance, and removal phases of the

log jacks.

• Enbridge anticipates a duration of 3 weeks to construct the staging area west of

Government Road (which is not part of the ROW application) and up to an additional 2

months to complete the initial placement of the log jacks, initial restoration activities, and

demobilization. This timeline does not include the time it would take to mobilize for and

complete the following work: (a) continuation of site restoration activities, which will start in

the 2025 growing season and continue until restoration criteria are met; (b) install or

remove any log jacks under the adaptive management concept, which could be

implemented after the construction of the initial log jacks and prior to the removal phase;

(c) monitoring and maintenance of the log jack structure; and (d) dislodge, disassemble, and

remove the log jacks. The proposed project anticipates that the adaptive management and

the log jack removal phases will employ a similar approach and duration as the initial log

jack installation phase.

• MNRD is recommending in order to avoid and minimize impacts that traffic associated with

the log jack project activities is limited to the designated trails or access routes

• MNRD is considering if any other conditions can be implemented to minimize or mitigate

impacts to hunting, fishing, gathering, cultural practices, religious activities or recreation

activities beyond minimizing the duration of log jack project activities.

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(D) the unique characteristics of the geographic area such as proximity to historic or cultural

resources, park lands, prime farmlands, wild rice waters, wild and scenic rivers, ecologically critical

areas, Outstanding Tribal Resource Waters, Wetland of International Importance, Sites of

International Importance (Ramsar Site) and North American Wetland Conservation Act (NAWCA)

lands;

Draft, 1/28/25

7

MNRD Decision in Support of Categorical Exclusion Determination: Right-of-Way Application

for Enbridge’s Log Jack Bank Stabilization Project at a Meander of the Mashkii Ziibii (Bad

River)

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Historic or cultural resources: Please refer to the information in Sections B, C and F

regarding the historic or cultural resources nearby or within the geographic extent of the

proposed ROW.

Park lands: The geographic extent of the proposed ROW does not contain park lands.

Prime farmlands: The geographic extent of the proposed ROW does not contain prime

farmlands.

Wild rice waters: The geographic extent of the proposed ROW does not contain known wild

rice waters. However, the geographic extent contains waterways that flow into wild rice

waters downstream, specifically the Bad River which supports wild rice in her downstream

reaches including not only the Bad River and Kakagon Sloughs Complex but the river herself

as far upstream as the Bad River tribal boat launch or beyond.

Wild and scenic rivers: The geographic extent of the proposed ROW does not contain

designated wild and scenic rivers. However, the Bad River has long been recognized in the

National Park Service’s Nationwide Rivers Inventory (NRI) as a free-flowing river “believed to

possess one or more ‘outstandingly remarkable’ natural or cultural values judged to be at

least regionally significant. Hence, NRI river segments 4 are potential candidates for inclusion

in the National Wild and Scenic River System. Under the Wild and Scenic Rivers Act section

5(d)(1) and related guidance, all federal agencies must seek to avoid or mitigate actions that

would adversely affect NRI river segments.” (NPS, 2024) Thus, the MNRD suggests that the

ROW, if approved, should contain the condition that at no time should any activities allowed

under the easement be permitted if they would negatively impact the Bad River’s eligibility

as a NRI and potential National Wild and Scenic River.

Ecologically critical areas: The geographic extent of the proposed ROW contains ecologically

critical areas, including: Anishinaabosibiing or Exceptional Resource Waters (ERWs) and Chi

minosingbii or Outstanding Tribal Resources Waters (OTRWs) designated by the Tribe’s

Water Quality Standards, as well as Conservation Areas designated by the Tribe’s Integrated

Resources Management Plan (IRMP). The OTRWs, ERWs, and connected waters and the

IRMP’s designated Resource Management Areas can be viewed in the Bad River Water

Quality Designation Mapper on the Tribe’s webpage at:

https://www.arcgis.com/apps/View/index.html?appid=6f44c371217e4ee8b5f1c2c705c7c7c

5.

 The Tribe’s Water Quality Standards (Bad River, 2011) defines ERWs as any

surface water within the exterior boundaries of the Reservation that is not

specifically classified as an Outstanding Resource Water or an Outstanding

Tribal Resource Water. New or increased discharges may be allowed in ORWs

and ERWs if the applicable antidegradation demonstration and decision

requirements are met. The geographic extent of the proposed ROW

encompasses wetlands and other surface waters (e.g., oxbow lake) classified as

ERWs within the floodplain of the Bad River. Activities including the

construction of the log jack project, implementation of any adaptive

https://home.nps.gov/subjects/rivers/nationwide-rivers-inventory.htm

Draft, 1/28/25

8

MNRD Decision in Support of Categorical Exclusion Determination: Right-of-Way Application

for Enbridge’s Log Jack Bank Stabilization Project at a Meander of the Mashkii Ziibii (Bad

River)

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management of the log jacks, maintenance of the project, removal of the log

jacks, and restoration work are expected to have impacts on the ERWs within

the proposed ROW. Impacts to ERWs and conditions to avoid, minimize, and

mitigate these impacts were evaluated under the Antidegradation Policy in the

Tribe’s Water Quality Standards as an activity with the potential to lower water

quality in an ERW must comply with the Antidegradation provisions. This

evaluation considered public comments received during the 30-day public

comment period, which started October 28, 2024, and concludes on November

27, 2024. See below for details pertaining to OTRWs. Refer to Section H for

more details regarding the evaluation and decision-making under the

Antidegradation Policy.

 Conservation Areas (CAs) are defined by the IRMP to include the major

floodplain of the Bad River approximated by an area ¼ mile wide on both sides

of the river as well as other areas on the Reservation including the Kakagon and

Bad River Sloughs wetland complex downstream of the corridor. The Tribe’s

IRMP (2001) states “Lands designated as Conservation Areas are unique within

the Reservation and are significant on a regional scale as well. The protection of

these areas from development and timber harvest demonstrates the Band’s

commitment to the maintaining the health of unusual and valuable

communities.” The geographic extent of the proposed ROW and associated

activities are expected to have a direct impact on the CAs; however, the

proposed ROW associated with Enbridge’s Log Jack Project is considered a

response action needed to alleviate the possibility of a hazardous substance

release from existing in-ground structures that Enbridge is operating in trespass.

Impacts to CAs and conditions to avoid and minimize these impacts are being

evaluated under the Bad River Reservation Wetlands and Watercourse

Protection Ordinance, and Enbridge must comply with permit decisions and

conditions. Refer to Section H for more details regarding the evaluation and

decision-making under the Bad River Reservation Wetlands and Watercourse

Protection Ordinance.

 The project is wholly contained within the Kakagon-Bad River Wetlands-Forest

Corridor Important Bird Area. This area is an important migration stopover site

for birds migrating along the Mississippi flyway with over 50,000 birds traveling

through each night during peak migration. It also serves as a nesting area for

multiple species. The area will be impacted by the installation of the log jacks.

Work must be completed outside of migration and nesting timing windows in

order to minimize impacts to the nearby bird communities.

Outstanding Tribal Resource Waters: The geographic extent of the proposed ROW includes

the Bad River, which is a Chi minosingbii or Outstanding Tribal Resource Waters (OTRW).

The Bad River flows into the Kakagon and Bad River Sloughs wetland complex, which is also

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9

MNRD Decision in Support of Categorical Exclusion Determination: Right-of-Way Application

for Enbridge’s Log Jack Bank Stabilization Project at a Meander of the Mashkii Ziibii (Bad

River)

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an OTRW. The Tribe’s Water Quality Standards (Bad River, 2011) defines OTRWs waters are

recognized as being largely pristine and important for the cultivation of wild rice or the

spawning of lake sturgeon, or have other special resource values, and, therefore, that water

quality shall be maintained and protected in all cases without degradation. New or

increased discharges or alternations of the background conditions are not allowed in

OTRWs; however, a short-term, temporary (no more than 6 months and no more than

necessary) lowering of water quality may be allowed provided the applicable

antidegradation demonstration and decision requirements are met. Activities associated

with the proposed ROW (including, but not limited to, the construction of the log jacks,

implementation of any adaptive management of the log jacks, maintenance of the project,

removal of the log jacks, and restoration work) are expected to have impacts on the Bad

River. Impacts to OTRWs and conditions to avoid, minimize, and mitigate these impacts

were evaluated under the Antidegradation Policy in the Tribe’s Water Quality Standards as

any activity with the potential to lower water quality in an OTRW must comply with the

Antidegradation provisions. This evaluation considered public comments received during

the 30-day public comment period, which started on October 28, 2024, and concluded on

November 27, 2024. Refer to Section H for more details regarding the evaluation and

decision-making under the Antidegradation Policy.

Wetland of International Importance: The geographic extent of the proposed ROW does not

contain any Wetland of International Importance (Ramsar site). The Bad River is within the

geographic extent, and the Bad River flows into a Wetland of International Importance:

Kakagon and Bad River Sloughs wetland complex.

North American Wetland Conservation Act (NAWCA): The geographic extent of the

proposed ROW does not include NAWCA parcels as confirmed by the Tribe’s GIS Specialist.

However, there is an adjacent NAWCA parcel immediately south and adjacent to the TriState Holdings, LLC, parcel owned by Enbridge along the Bad River Meander on which some

of the log jack activities will occur. Additional NAWCA parcels are present in the surrounding

area but not immediately adjacent to the Trust, Town of Sanborn, Tribal Fee, and Private

lands on which the activities will occur.

(E) whether the proposed activity is related to other actions with individually insignificant but

cumulatively significant impacts;

• The proposed activity is designed to place log jacks along the bank of the Bad River to

temporarily prevent further erosion of the riverbank to protect the river and the

surrounding and downstream ecosystems from the potential of an exposed pipeline and the

risks if that should occur. The log jacks may support some uses (such as providing some

habitat for wildlife and other aquatic life); however, this erosion is part of the natural

evolution of the Bad River and the short-term, long-term, and cumulative impacts of

delaying this natural movement is not fully known. Other impacts associated with the log

jack installation, maintenance, possible adaptive management, and removal are also not

fully known due to multiple factors. For example, as the modeling completed can only

Draft, 1/28/25

10

MNRD Decision in Support of Categorical Exclusion Determination: Right-of-Way Application

for Enbridge’s Log Jack Bank Stabilization Project at a Meander of the Mashkii Ziibii (Bad

River)

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accurately predict possible scenarios to a certain degree and cannot encompass every

scenario or attributing factor to each scenario fully. MNRD asked Enbridge to answer the

following question with an explanation and justification supporting their response: Is the

action proposed related to other actions with individually insignificant but cumulative

significant environmental effects? Enbridge’s response provided to MNRD is copied and

pasted below:

“The erosion control Project is not related to other actions; it is an independent

project specifically designed to reduce bank erosion at a point on the Bad River.

Information demonstrating the temporary and insignificant effects from the Project

is set forth in the application appended as Attachment 1, as well as the reports

referenced above. The installation and removal of the Project will also occur at

different times, thereby not resulting in any cumulative effects. While the Project is

not related to other actions in the area, Enbridge notes that the Project will reduce

further erosion at the Bad River, thereby limiting sediment loading into the Bad River

that will otherwise occur without the Project. This will have an effect of

offsetting any actions unrelated to the Project that may result in increased sediment

loading. For these reasons, no significant cumulative effects will occur.”

MNRD concluded that impacts to the ecosystem from this project could contribute to

cumulative impacts to the ecosystem on the Reservation, especially from projects both

upstream and downstream along the Bad River; collectively, these activities can have a

significant impact on the landscape and natural resources. Potential projects upstream and

downstream of the log jack project that could aggregate include, but are not limited to:

o Maintenance and decommissioning of the Xcel Energy transmission line corridors;

o Maintenance and other activities along either the Northern Natural Gas or

TransCanada natural gas pipeline corridors, including but not limited to anomaly

digs and corridor maintenance;

o Decommissioning and removal of the Line 5 pipeline from the Bad River and

floodplain;

o Enbridge’s proposal to construct 41-miles of pipeline adjacent to the Reservation

and located upstream and in other areas connected to tribal waters, natural

resources, and cultural resources;

o Road maintenance work on Bad River bridges and other road infrastructure within

the watershed; and

o Development of undeveloped lands within the watersheds for private,

municipal/governmental, or other purposes.

Continued access to the site has led to the compaction of soils within the area of interest as

well impacts to the sensitive life stages of certain species. Compaction of the soils at the

project site is an issue due to the high clay content in the soil. Compacted soils with high

bulk density, reduced pore space, and poor aeration/drainage would limit the ability of

vegetation to establish. With the unknowns around project phases, such as adaptive

management, plan BMPs must be used to reduce the amount of soil compaction throughout

the entirety of the project.

Draft, 1/28/25

11

MNRD Decision in Support of Categorical Exclusion Determination: Right-of-Way Application

for Enbridge’s Log Jack Bank Stabilization Project at a Meander of the Mashkii Ziibii (Bad

River)

•

MNRD’s recommendation to avoid, minimize, and/or mitigate cumulative impacts is to

condition the 2-year ROW agreement (if approved) with a requirement for Enbridge to

complete a comprehensive study (including necessary modeling and analysis) on the

removal of the Enbridge Line 5 pipeline from the Bad River and her floodplain and evaluate

the impacts if the removal of this section of the pipeline occurs: (a) at the same time that

the log jacks are removed, which is by September 30, 2026; or (b) at a different time than

the log jack removal. This study must be submitted to MNRD for review and feedback.

MNRD is also considering if other conditions are necessary for Enbridge to implement to

avoid, minimize and/or mitigate cumulative impacts.

•

(F) the potential impact on sites, structures, or objects listed in or eligible for listing in the

National Register of Historic Places or may cause loss or destruction of significant scientific,

archeological, cultural, or historical resources;

• The entire reservation is potentially eligible for listing on National Register of Historic Places

and is a significant cultural and historical resource. Based on Natural Resources Director’s

consultation with THPO, Enbridge’s Log Jack Project had director or indirect adverse effects

on historic properties and cultural resources. However, this project is considered by MNRD

as a response action undertaken to alleviate a release into the environment of hazardous

substances, pollutants, or contaminants which pose an imminent and substantial danger to

public health and welfare. Thus, conditions to avoid, minimize, and/or mitigate these

impacts were identified by THPO as described in the THPO Compliance form (dated

1/9/2025) and summarized in Section B.

•

(G) the potential impact on endangered or threatened species or their habitat that has been

determined to be critical under Tribe law or under the federal Endangered Species Act;

• Ma’iingan (Gray wolf, Canis lupus) have been observed utilizing the habitat at the project

site. For Ma’iingan, they utilize this area for movement, with no known current den

locations in the area. If a den location is discovered during the duration of the ROW (if

approved), then measures to avoid, minimize, and/or mitigate impacts as determined by

MNRD must be implemented.

• Wood turtles (Gleptemys insculpta) utilize the Bad River and bank for both hibernation and

for nesting. Should work occur along the bank and/or below the Ordinary High-Water Mark,

there must be surveys done prior to work being started in accordance with guidelines from

MNRD Wildlife Program Manager, and should turtles be found within the workspace, the

turtles should be moved out of the working space in a way to prevent any injury or loss of

turtle. If work occurs during the nesting season of wood turtles from May 1st – September

30th, heavy equipment should not be used on sandy riverbanks to prevent disturbance of

any potential turtle nests. Other measures that MNRD deems necessary to protect wood

turtles and avoid, minimize, and/or mitigate impacts must be followed.

• During the growing season, this area provides maternal roosts to multiple protected bat

species. Any installation, maintenance, and removal of log jacks during this time may disturb

Draft, 1/28/25

12

MNRD Decision in Support of Categorical Exclusion Determination: Right-of-Way Application

for Enbridge’s Log Jack Bank Stabilization Project at a Meander of the Mashkii Ziibii (Bad

River)

•

•

•

and impact the local bat community. Tree removal and the use of heavy equipment should

be avoided from May 1st – August 31st.

At the project site there were no threated or endangered plant species identified in the

survey efforts. There is a NHI listing for Cypripedium arietinum within 1 mile of the area of

interest (AOI) but no individuals were found during surveys.

The botanical surveys found 110 medicinal plant species within the AOI. Throughout the

duration of the ROW (if approved) care should be taken to minimize impacts to these

species due to their cultural significance. During restoration activities, observations should

be made to confirm that these species are still present within the Tribal trust and fee parcels

impacted by the project, and if not, Enbridge must implement mitigation measures as

determined by MNRD so the plant species are returned to the landscape so tribal members

can continue to gather these medicines.

(H) whether the action may violate federal or Tribal Environmental Laws;

• Given the risk of an oil spill, which would devastate the Bad River and the Band’s way of life,

the Band did not renew Enbridge’s easements to operate Line 5 when they expired in 2013.

The Tribal Council passed a resolution in 2017 5 insisting that Enbridge leave the Reservation

and the watershed. A federal court ruled that Enbridge has been knowingly trespassing

since 2013 and ordered Enbridge to cease operating Line 5 on the Reservation by June 16,

2026.

• Action is unlikely to further violate federal or Tribal laws if the following steps are taken:

 Proper performance for the implementation of BMPs, and adherence to permit

conditions to avoid violation of wetland/water laws during the installation of log

jack base design, adaptive management phase, and the removal of log jacks

including, but not limited to:

• Analysis and permitting under the Bad River Reservation Wetland and

Watercourse Protection Ordinance (Chapter 3.11) was completed by

MNRD. MNRD has determined that the proposed ROW (if approved)

meets the Tribal interest criteria described in Chapter 3.11, which is one

of the standards and criteria that must be considered under this code.

Because the purpose of the proposal is to decrease the risk of an oil spill

from Line 5 by stabilizing the bank of the Bad River and preventing the

pipeline from being exposed, the work is dependent upon the wetlands

Refer to Tribal Council resolution 1-4-147-738 (https://www.badriver-nsn.gov/wpcontent/uploads/2019/11/Pipeline_Resolution_Line5_Removal_2017.pdf) and resolution 10-30-19-226

(https://www.badriver-nsn.gov/wp-content/uploads/2020/02/NRD_EnbridgeRemoval_Resolution_201910.pdf) for

more details. A summary about the Band’s lawsuit against Enbridge is available at: https://www.badrivernsn.gov/wp-content/uploads/2024/03/Handout-about-Line-5-3-pages.pdf.

5

Draft, 1/28/25

13

MNRD Decision in Support of Categorical Exclusion Determination: Right-of-Way Application

for Enbridge’s Log Jack Bank Stabilization Project at a Meander of the Mashkii Ziibii (Bad

River)

•

•

Draft, 1/28/25

and watercourse in the proposed ROW. Wetland and watercourse

impacts are anticipated, and mitigation is required in response to those

impacts. The Bad River Reservation Wetland and Watercourse

Protection Ordinance (WWPO) Permit for the installation of the log

jacks was issued on January 10, 2025, and amended on January 16,

2025. Enbridge must follow the specifications and conditions outlined in

the WWPO Permit.

Anti-degradation review and analysis was completed by MNRD for

Enbridge’s log jack project. MNRD posted notice (10/28/2024) regarding

Anti-degradation decision-making and the public comment period

ended 11/27/2024. MNRD has determined the lowering of water quality

arises entirely to the response actions undertaken to alleviate a release

into the environment which may pose an imminent and substantial

danger to public health and welfare, which is one part of the evaluation

under the Antidegradation Policy. MNRD has determined that water

quality will be lowered due to the log jack project and existing uses will

be affected. MNRD’s recommendation was for the Tribal Council to

conditionally approve the Antidegradation Decision with conditions that

avoid, minimize, and mitigate water impacts including, but not limited, a

condition requiring Enbridge and its contractors participation in a preconstruction meeting with MNRD prior to the start of construction to

review the conditions of permits and approvals and to discuss safety

concerns and protocols, conditions regarding financial assurances, and a

condition limiting the duration of in-stream work. MNRD’s

recommendation for the Antidegradation Decision was presented to the

Tribal Council for review and final decision-making on December 30,

2024. The Anti-degradation Decision was approved by Tribal Council,

with conditions, under resolution 12-30-24-02. Enbridge must follow

the specifications and conditions outlined in the Anti-degradation

Decision. See Section D above for more information regarding OTRWs,

ERWs, and the Tribe’s Antidegradation Policy.

A Clean Water Act (CWA) Section 401 certification was received for

Enbridge’s Log Jack Proposal; this request is associated with

authorization from Army Corps of Engineers under CWA Section 404

and Section 10. MNRD’s review and analysis has been completed.

MNRD posted notice (10/28/2024) regarding CWA 401 certification and

the public comment period ended 11/27/2024. MNRD’s

recommendation for the CWA 401 certification was presented to Tribal

Council for review and final decision-making on December 30, 2024. The

Tribe has determined, however, that certain conditions are necessary to

protect (a) the public health and welfare of the Tribe, its members, and

others living on its Reservation, and (b) the present and future use of

14

MNRD Decision in Support of Categorical Exclusion Determination: Right-of-Way Application

for Enbridge’s Log Jack Bank Stabilization Project at a Meander of the Mashkii Ziibii (Bad

River)

•

•

Draft, 1/28/25

Reservation waters for cultural purposes, propagation of fish and

aquatic life and wildlife, and other legitimate uses, such as a condition

requiring Enbridge to remove the log jacks and all associated materials

by September 30, 2026. The CWA Section 401 certification was

approved by Tribal Council, with conditions, for Enbridge’s Log Jack

proposal under resolution 12-30-24-03. Enbridge must follow the

specifications and conditions outlined in the CWA Section 401

certification. Authorization from Army Corps of Engineers for Enbridge’s

Log Jack Project was issued on January 21, 2025, under the Corp’s Bank

Stabilization and Habitat Improvement Regional General Permit; this

general permit is available at:

https://www.mvp.usace.army.mil/Portals/57/docs/regulatory/RGP/Ban

k%20Stabilization%20Habitat%20Improvement.pdf?ver=z8W5UCmW7cHsRrDasa50A%3d%3d.

Enbridge must obtain permit coverage if any construction activity is

anticipated to disturb one or more acres of land and discharges

stormwater to waters of the U.S as defined under the EPA National

Discharge Elimination System (NPDES) Construction General Permit

(CGP) for Stormwater Discharged from Construction Activities. The

disturbance includes those construction activities that are part of s

common plan of development or sale that will cumulatively disturb one

or more acres of land and discharge stormwater to waters of the U.S. As

part of obtaining coverage under the CGP, a site-specific Stormwater

Pollution Prevention Plan (SWPPP) is required to be developed and

submitted to MNRD. Information about this permit can be found at:

https://www.epa.gov/npdes/2022-construction-general-permit-cgp.

In regard to the adaptive management and removal phases, the WWPO

permit, Antidegradation Decision, and CWA Section 401 Certification of

the Army Corps’ authorization all included the following condition:

o Following the installation of the log jack base design, MNRD will

provide a recommendation to the Band regarding the conditions

for the adaptive management and removal phases necessary to

protect the natural and cultural resources, including water

quality and existing uses. MNRD’s recommendation will consider

Enbridge’s execution of the base design and adherence to

permits and approvals, the results of the monitoring and

inspections completed, measures to minimize and/or mitigate

effects, the impacts and challenges of adaptive management in

different seasonal conditions, and the impacts and challenges of

removal during the timeframe specified in condition 31.

Adaptive management and removal conditions approved by the

Band shall become conditions to the relevant federal and Tribal

15

MNRD Decision in Support of Categorical Exclusion Determination: Right-of-Way Application

for Enbridge’s Log Jack Bank Stabilization Project at a Meander of the Mashkii Ziibii (Bad

River)

•

permits automatically or through permit condition modification

where necessary.

Adherence to tribal and federal laws during the duration of the ROW (if

approved) and the maintenance, operational, and decommissioning including,

but not limited to:

• Water-related laws, such as the Tribe’s Chapter 3.11

(https://law.badriver-nsn.gov/us/nsn/badriver/council/code/3.11),

Tribe’s Chapter 3.12 (https://law.badrivernsn.gov/us/nsn/badriver/council/code/3.12), Tribe’s Water Quality

Standards (https://www.badriver-nsn.gov/wpcontent/uploads/2020/01/NRD_WaterQualityStandards_2011.pdf), and

the Clean Water Act.

• Tribe’s Right-of-Way Maintenance Method Ordinance (Chapter 4.06)

establishes guidelines for clearing ROW vegetation:

https://law.badriver-nsn.gov/us/nsn/badriver/council/code/4.06.

• Tribe’s Environmental Response and Remediation Code (Ch. 3.25)

regulates the identification of, threat of, or actual discharge of

hazardous substances: https://law.badrivernsn.gov/us/nsn/badriver/council/code/3.25.

• The terms and conditions of the ROW agreement (if approved). A ROW

application was submitted to BIA, who is processing it in accordance

with federal law and BIA’s policies and procedures.

• US EPA Regulations: 40 CFR part 110, Discharge of Oil, and 40 CFR part

112, Oil Pollution Prevention.

• Other applicable tribal or federal laws, such as adhering to tribal

moratoriums on birch and cedar and conservation codes to avoid,

minimize, or mitigate impacts to fish and wildlife.

(I) the potential impact on air quality;

• There are two basic kinds of potential air quality impacts: during construction, maintenance,

and decommissioning phases and during operation.

• During construction, maintenance, and decommissioning phases, air quality impacts are

likely to be limited if appropriate measures are followed with respect to operating

machinery. Accordingly, the Natural Resources Department recommends that the following

requirements regarding equipment operation be required:

• Construction, maintenance, decommissioning, or other activities that may generate

dust, construction vehicle exhaust generation, and placement of asphalt pavement

must implement dust control best management practices (BMPs), such as watering

and suspension of earth moving activities during high winds, mulching and seeding

when exposed earth within the construction or decommissioning footprint that will

be inactive for extended periods of time, and use construction equipment with

Draft, 1/28/25

16

MNRD Decision in Support of Categorical Exclusion Determination: Right-of-Way Application

for Enbridge’s Log Jack Bank Stabilization Project at a Meander of the Mashkii Ziibii (Bad

River)

•

emissions controls and minimize equipment idling time to reduce equipment

exhaust emissions.

After construction, impacts are likely to be limited if proper protocols are followed with

respect to monitoring and adapting management of the infrastructure. Refer to the public

safety section for more information regarding the expectation around pipeline operation.

(J) the potential impact on water resources, including surface and ground water, water quality,

water quantity, water uses and rights, fisheries, floodplains and/or wetlands;

• Surface water: Activities associated with the proposed ROW, including during the

construction, maintenance, operational, adaptive management, decommissioning and

removal phases, have the potential to impact water resources, including surface waters. The

proposed project is within the Bad River, an Outstanding Resource Tribal Waters (Tier 3

Water) protected for cultural, wildlife, aquatic life and fish, and recreational uses among

other uses. Impacts are also proposed to wetlands classified as Exceptional Resources

Water (Tier 2 Water) protected for cultural and wetland uses among other uses. Impacts to

other ERWs (such as the oxbow located on the left bank of the river) have the potential to

occur due to the proximity to project activities and connections to the OTRW and other

ERWs. These surface waters are within the Lower Bad River Watershed, which is part of the

Bad River Watershed within the broader Lake Superior basin. Refer to Section D above for

details regarding OTRWs and ERWs and refer to Section H for details on applicable waterrelated laws. See below for information on potential impacts to water quality, water

quantity, water uses and rights, fisheries, floodplains, and wetlands and MNRD’s

recommendations to avoid, minimize and mitigate these potential impacts. MNRD has

reviewed and analyzed information from the applicant relevant to potential surface water

impacts associated with the log jack project. MNRD will continue to evaluate impacts and

develop recommendations to avoid, minimize, or mitigate the potential impacts during the

different phases of the proposed ROW.

• Ground water: Activities associated with the proposed ROW have the potential to impact

water resources, including ground water. Groundwater is the primary drinking water source

within the Bad River Reservation and the interactions of groundwater and surface waters

support critical uses, such as fisheries and cultural. Activities covered in this ROW (if

approved) include activities that could impact infiltration rates or possibly contaminate

groundwater, including but not limited to activities resulting in soil compaction or possible

release of hazardous substances. Conditions should be included for any future activities

(e.g., decommissioning) that limit the potential of a hazardous substance release and

require prompt containment and cleanup any releases or spills, minimize and mitigate soil

compaction, and minimize and mitigate impacts to uses.

• Water quality: Outstanding Tribal Resource Waters (OTRW) are largely pristine and

constitute a significantly important cultural and ecological resource. Exceptional Resource

Waters (ERW) are of high quality and culturally important for the ecosystems they support.

Activities associated with the proposed ROW (if approved) have the potential to impact

Draft, 1/28/25

17

•

MNRD Decision in Support of Categorical Exclusion Determination: Right-of-Way Application

for Enbridge’s Log Jack Bank Stabilization Project at a Meander of the Mashkii Ziibii (Bad

River)

•

•

•

•

water quality. A discharge to surface water must not cause or contribute to an exceedance

of the criteria included in the Bad River Tribe’s Water Quality Standards (WQS). Potential

water quality concerns include, but are not limited to, increased erosion/sedimentation,

increased turbidity, changes in water uses and wetland functions, and the potential for the

release of hazardous substances associated with equipment. Refer to Section H above for

details regarding wetland/water laws, including the MNRD’s evaluations. See below for

MNRD’s recommendations to avoid, minimize, and mitigate the potential impacts to water

quality.

Water quantity: The Tribe identified the restoration and protection of wetlands along

undeveloped shorelines as a project to mitigate riverbank erosion impacts; the Tribe also

concluded conducting wetland functional assessments to prioritize restoration and

protection efforts within the Lower Bad River Watershed is a high priority measure to

mitigate future flooding impacts (Bad River, September 2018). See below for MNRD’s

recommendations to avoid, minimize, and mitigate potential impacts to water quantity.

Water uses and rights: The Antidegradation Policy for the Bad River Tribe’s Water Quality

Standards (WQS) protects existing uses and prevents high quality waters from being

unnecessarily degraded. Activities associated with the proposed ROW have the potential to

impact existing and designated uses of waters and water rights. The following designated

uses apply to the various classes of surface waters that are located within the project area:

Cultural, Wildlife, Wetlands, Wild Rice, Aquatic Life and Fish, Recreational, Cool Water

Fishery, Commercial, and Navigation. Refer to Section H above for details regarding

wetland/water laws. See below for MNRD’s recommendations to avoid, minimize, and

mitigate potential impacts to uses and rights.

Fisheries: The project area is within the main stem of the Bad River, downstream of major

spawning habitat and upstream of major nursery habitat. This area of the river is one of the

most dynamic parts of the watershed. Large amounts of the water that falls into the

watershed flows through this area. There is evidence of the river migrating and leaving

oxbow lakes along the floodplain in this region. The fishery habitat type in the area is largely

coarse woody debris (CWD), sand flats, and deep pools with minimal vegetation within the

stream. This project seeks to postpone the river from the natural migrating process through

armoring the shoreline to prevent erosion of the bank to prevent the pipeline from being

exposed, which increases the risk of an oil spill. The installation of this project will minimize

the amount of CWD that is removed from the location due to habitat types are limited in

this region. During all phases of this project river connectivity during crucial parts of the year

are most important for fisheries. The timing of the installation and in-stream work should

avoid impairing migrating fish from reaching upstream spawning grounds. The removal of

the project should minimize impact to the fish community through timing the removal for

outside of migration windows of anadromous fish. Fish movement through this site is not

only important for fish stock health, but for cultural activities. Upstream of this site is a

sacred fishing location for the members of the tribe. Disruption of migration of fish through

this area would be seen as an infringement on tribal treaty rights to fish in historic locations.

Floodplains: The project area falls within the Bad River Floodplain. The floodplain is a part of

a larger wetland complex that is connected to the Bad River, Sugarbush Creek, and multiple

Draft, 1/28/25

18

MNRD Decision in Support of Categorical Exclusion Determination: Right-of-Way Application

for Enbridge’s Log Jack Bank Stabilization Project at a Meander of the Mashkii Ziibii (Bad

River)

oxbow lakes. River flows overtop the riverbank and enter the floodplain during large runoff

events (i.e., spring melt, large precipitation events), which lead to high levels of natural

erosion of the riverbank and meandering of the river. The peak flood inundation that

occurred along this reach of the Bad River during the July 2016 flood is shown in the figure

below as modeled by US Geological Survey in collaboration with the Tribe (USGS, 2017).

With the installation of the log jacks, the natural meandering of the stream will be

disrupted, and the floodplain will experience less natural erosion; however, this impact will

be mitigated with a short term of the ROW (i.e., 2 years or less) if approved and with the

removal of the log jacks and site restoration, and natural erosion and meandering will be

able to continue. With proper design, construction, and decommissioning protocols, other

impacts on the floodplain associated with the installation and removal of log jacks and

adaptive management within the ROW should be minimized and mitigated if plans are

executed correctly and permit conditions are implemented correctly. Appropriate

monitoring during log jack installation and removal along with appropriate review and

approval of any future adaptive management and maintenance will be necessary to

minimize impacts to floodplains.

Figure 2: The peak flood inundation map developed by USGS for the July 2016 flood the reach of the Bad

River where the geographic extent of the proposed ROW is located. The peak flood inundation map for

the Bad River and other portions of the Bad River Reservation is available at:

https://geonarrative.usgs.gov/badriver2016flood/.

•

Wetlands: Activities associated with the proposed ROW will impact wetlands. Wetlands

present in the geographic extent of the proposed ROW include 1.04 acres of floodplain

Draft, 1/28/25

19

MNRD Decision in Support of Categorical Exclusion Determination: Right-of-Way Application

for Enbridge’s Log Jack Bank Stabilization Project at a Meander of the Mashkii Ziibii (Bad

River)

•

forest wetlands 6 and up to 0.93 acres of impacts below the ordinary high-water mark within

the Bad River. The wetlands within the corridor filters runoff from the surrounding

landscape that flows into the Bad River and helps manage flooding and drainage during high

flow events. They also protect and manage erosion along the riverbank of the Bad River and

provide habitat for aquatic life. Refer to Section H above for details regarding wetland/water

laws, including the evaluation MNRD completed under Chapter 3.11. As mentioned in the

water quantity section above, assessing, restoring, and protecting wetlands within the

Lower Bad Watershed is a high priority mitigation measure for the Tribe (Bad River,

September 2018). See below for MNRD’s recommendations to avoid, minimize, and mitigate

the potential impacts to wetlands.

Water-Related Recommendations:

 Proper performance of construction activities, implementation of BMPs, and

adherence to conditions contained in water-related permits and approvals are

necessary actions to avoid, minimize, and/or mitigate potential impacts of

installation of the log jacks.

• Refer to the Floodplain section above for recommendations to minimize

impacts to floodplains.

 To minimize risk and adverse water quality effects associated with helicopter

transporting loads, Enbridge’s protocols regarding the Helicopter Transport

Services (HTS) Rigging and Execution Plan (which includes a section on

Inadvertent Release Prevention) must be followed along with the conditions in

the water-related approvals and permits.

 Future maintenance, operational, adaptive management, decommissioning, and

removal activities, such as brushing the corridor, installing additional

infrastructure, etc., are subject to review and permitting facilitated through the

Tribe’s Project Review Process implemented by MNRD. The Project Review

Process will evaluate potential impacts to the natural and cultural resources and

ways to avoid, minimize and/or mitigate impacts along with identifying the

permits/approvals necessary to obtain prior to implementation of the activity.

Information about the Tribe’s Project Review Process is available at:

https://www.badriver-nsn.gov/natural-resources/projectreviews/. The

implementation of the adaptive management plan and removal of log jacks are

subject to review and approval by MNRD as described in Section H.

• Conditions should be included for any future activities (e.g.,

decommissioning) that limit the potential of a hazardous substance

release and require prompt containment and cleanup any releases or

spills, minimize and mitigate soil compaction, and minimize and mitigate

impacts to uses.

Additional wetland impacts will occur with the implementation of Enbridge’s log jack project. For

example, wetland impacts have been and will occur at staging areas outside the scope of the proposed

ROW but within the Bad River Watershed, such as the wetland impacts west of Government Road

adjacent to the geographic extent of the proposed ROW.

6

Draft, 1/28/25

20

MNRD Decision in Support of Categorical Exclusion Determination: Right-of-Way Application

for Enbridge’s Log Jack Bank Stabilization Project at a Meander of the Mashkii Ziibii (Bad

River)

•

Refer to recommendations provided in other sections of this document

including, but not limited to, Section E above for recommendations to avoid,

minimize, and mitigate cumulative impacts. MNRD is evaluating

recommendations to assess, restore, and protect wetlands within the Lower

Bad Watershed to mitigate future flooding and shoreline erosion impacts.

Access permits are required for Enbridge’s activities within the Reservation.

Access permits issued by MNRD include standard conditions, such as the

requirement for Enbridge’s to complete activities using BMPs and to submit any

data collected within the Reservation boundaries to MNRD within 30 days of

collection unless otherwise specified in related permits or approvals.

Information about Access Permits, including the applicable fee structure, is

available at: https://www.badriver-nsn.gov/natural-resources/projectreviews/.

(K) the potential impact on biological resources, including wildlife, vegetation, ecosystems and

biological communities;

• Wildlife: Work should follow wildlife avoidance guidelines to minimize impacts to wildlife

communities. Details on the wildlife avoidance guidelines can be found at:

https://www.badriver-nsn.gov/wp-content/uploads/2020/06/species_avoidanceall.pdf

Information must be submitted to MNRD Director (nrdirector@badriver-nsn.gov), Wildlife

Program Manager (Wildlife@badriver-nsn.gov), and Environmental Specialist

(environmental@badriver-nsn.gov) of significant wildlife sightings (e.g., coyote, fox, bobcat,

eagle, otter, fisher, marten, etc.) during ROW activities. Documentation of sightings should

include GPS coordinates, species, number of individuals, direction of travel, what the

encounter entailed (e.g. did the individual stay nearby and watch, run away, ignore workers,

etc.).

• Vegetation: Impacts to vegetation are likely to be avoided, minimized, and/or mitigated

during the duration of the proposed ROW if the following conditions are implemented:

• Tribe’s Right-of-Way Maintenance Method Ordinance (Chapter 4.06) and other

tribal and federal laws must be followed.

• In order to avoid and minimize the introduction and spread of non-local beings

(invasive species) during the duration of the ROW (if approved), including

construction, maintenance, and removal phases, Bad River requirements regarding

equipment cleaning and inspections must be followed. Furthermore, Bad River

requirements include avoiding disturbance of any non-local beings within the

geographic extent of the proposed ROW to the extent practicable, controlling the

existing buckthorn present within the project footprint in accordance with the

WWPO permit conditions, and using MNRD-approved native seed mixes when

reseeding is necessary.

• If the ROW is approved, the geographic extent of the ROW should be surveyed for

non-local beings (invasive species) and resurveyed annually during the duration of

the ROW agreement. Non-local being populations that are new or expanding should

be controlled using MNRD approved methods.

Draft, 1/28/25

21

MNRD Decision in Support of Categorical Exclusion Determination: Right-of-Way Application

for Enbridge’s Log Jack Bank Stabilization Project at a Meander of the Mashkii Ziibii (Bad

River)

•

During construction phase (i.e., installation of log jack base design), vegetative

management or tree clearing is planned within the geographic extent of the

proposed ROW including along the access route and corresponding staging areas.

During the maintenance and operation phases or any activity that requires

vegetative management or tree clearing, the following conditions must be

implemented to avoid, minimize, and mitigate impacts to birch, cedar, and oak:

• Birch and cedar are protected species and cutting of them (including branches)

must be avoided. If cutting is necessary, then Enbridge is responsible for

communicating with MNRD (typically through the Tribe’s Project Review

Process), and based on that communication, Enbridge will be responsible for

implementing site-specific guidance from MNRD. This site-specific guidance may

include inventorying the amount of birch and/or cedar that is two-inch diameter

at breast height (dbh) or greater to be cut and compensating MNRD to purchase

and plant an equivalent amount of birch and/or cedar at a different location

within the Reservation boundaries. This site-specific guidance may also include

reporting cedar seedlings under two-inch diameter to MNRD so our Forestry

program can assess the potential for transplanting.

o In a memo dated 1/10/2025, Enbridge identified that: (a) no

cedar was identified in the approved workspaces or access; (b)

281 birch trees are present within the staging area west of

Government Road that Enbridge is planning to remove 7; (c) 10

of the 12 birch trees present within access routes may need to

be removed; and (d) six birch trees are present within the

emergency set down area located east of the river and may

need to be removed if this area is utilized. For the birch trees

that must be cut, Enbridge must:

 Obtain MNRD’s site-specific requirements to avoid,

minimize, and mitigate impacts to birch prior to cutting

the birch trees;

 Transport cut birch trees 2-inch in diameter and larger

to the Bad River Firewood Bank for cultural use by tribal

members. The Bad River Firewood Bank is currently

located at 69133 US-2, Ashland, WI 54806;

• Paper Birch trees 6” dbh or larger should not be

cut into shorter logs at the project site, but

Note that although the staging area described in (b) is not within the geographic extent of the

proposed ROW, Enbridge must still implement site-specific guidance given by MNRD to avoid, minimize

and/or mitigate impacts for removal of these birch trees within the exterior boundaries of the

Reservation.

7

Draft, 1/28/25

22

MNRD Decision in Support of Categorical Exclusion Determination: Right-of-Way Application

for Enbridge’s Log Jack Bank Stabilization Project at a Meander of the Mashkii Ziibii (Bad

River)

•

rather transferred to the firewood bank and

notify MNRD so MNRD can post notice to Tribal

Members who may be interested in harvesting

the bark prior to being used for firewood.

Measures to minimize damage to the bark must

be implemented.

• MNRD is working to determine the appropriate

frequency and timing of the transport of birch

trees to maximum the use of birch trees that

will be cut for the log jack base design

installation. MNRD requested input from

Enbridge on the frequency and timing for

transport of birch to the Bad River Firewood

Bank.

 Provide the final numbers, sizes, and locations of birch

trees cut to MNRD within 7 days of the completion of

the brushing/cutting activities; and

 Compensate MNRD to purchase and plant an equivalent

amount of birch trees by paying the MNRD-generated

invoice. Birch cut not following the site-specific

requirements will be charged with a higher rate.

• Due to the presence of oak wilt on the landscape, oak cannot be cut or damaged

between April 1 and October 1 of each year (regardless of the size of the oak). If

damage to oak occurs, then Enbridge is responsible for promptly reporting the

damage to MNRD and implementing site-specific guidance from MNRD, such as

immediate and thorough application of pruning sealer or tree paint over the

wound. Torn branches or roots must be cut clean, and the cut surface painted.

For additional protection, cover treated roots with soil. See this webpage for

more information on oak wilt in Wisconsin:

https://dnr.wisconsin.gov/newsroom/release/54681#:~:text=If%20something%

20wounds%20an%20oak,cover%20treated%20roots%20with%20soil.

• Proper BMPs are implemented.

Ecosystems and Biological Communities: Most of the ecosystems are in wetlands and water

resource areas. The project will impact the macroinvertebrate community, potentially

creating habitat for some taxa while reducing available habitat for others. The impacts

should be small enough that the macroinvertebrate should return to a similar community

make up after the removal of the log jacks. To further avoid and minimize impacts to the

ecosystems and biological communities, MNRD recommends that Enbridge removes the

section of the pipeline crossing Bad River and her floodplain at the same time as the

removal of the log jacks (which is condition to occur by September 30, 2026) given the

Draft, 1/28/25

23

MNRD Decision in Support of Categorical Exclusion Determination: Right-of-Way Application

for Enbridge’s Log Jack Bank Stabilization Project at a Meander of the Mashkii Ziibii (Bad

River)

remoteness of the pristine ecosystems. Refer to sections D and J above for additional

information regarding ecosystems.

•

(L) the potential impact on visual resources, scenic views, and wilderness values;

• Visual resources: Impacts on visual resources will last the duration of the project but should

be minimal post removal of the log jacks. The anticipated impacts to the visual resources

will be minimized if BMPs and the conditions of permits and approvals are followed, the log

jacks and all associated materials are removed by September 30, 2026, and the

decommissioning and removal of the pipeline from the Bad River and her floodplain occurs

within the same timeframe.

• Scenic views: Impacts on scenic views will last the duration of the project but should be

minimal post removal of the log jacks. The log jacks will impact the aesthetic value of this

landscape while they remain in the Bad River. Their removal may alter the landscape and

change the aesthetic value of the landscape, but the change should be minimal assuming

BMPs and the conditions of permits and approvals are followed, the log jacks and all

associated materials are removed by September 30, 2026, and the decommissioning and

removal of the pipeline from the Bad River and her floodplain occurs within the same

timeframe.

• Wilderness values: The Bad River and her floodplain provide substantial wilderness values.

The wilderness values will be impacted by the log jack installation and removal operations,

with more minor impacts anticipated during maintenance and other phases. If activities are

implemented in accordance with permits and approvals issued (including fully restoring the

stie after log jacks are removed), then minimal impacts to the wilderness value are

anticipated. Refer to sections (G) and (K) above for additional information regarding wildlife.

•

(M) potential generation of excessive noise, vibrations, light, or glare;

• Excessive noise: excessive noise should only occur during the construction,

decommissioning, and maintenance phases. Generation of excessive noise must only occur

during the daytime hours, and any excessive noise must be mitigated by both “source” and

“path” controls, i.e., utilizing equipment that has a lower decibel output or utilizing barriers

or other structures to control noise spillage.

• Vibrations: vibrations should only occur during the construction, decommissioning, and

maintenance phases. Any vibrations to ground or air, specifically regarding the project’s use

of helicopter flights, must be performed in a way that prevents injury and unreasonable

annoyance to public or private properties outside the immediate work site.

• Light: light should only occur during the construction, decommissioning, and maintenance

phases. Lighting needs must be defined in the relevant construction, maintenance, and

decommissioning plans, and according to OSHA standards. These plans may require lighting

at night for immediate site safety and security, however, excessive site lighting beyond that

which meets those standards must cease during the overnight hours.

• Glare: glare should only occur during the construction, decommissioning, and maintenance

phases. Reduction of glare, to the extent practicable, must be considered in all construction,

maintenance, and decommissioning phases. Implementation of textured glass or anti-

Draft, 1/28/25

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MNRD Decision in Support of Categorical Exclusion Determination: Right-of-Way Application

for Enbridge’s Log Jack Bank Stabilization Project at a Meander of the Mashkii Ziibii (Bad

River)

reflective coatings on machinery, directionality of the work itself relative to the time-ofday/sun, or installation of partitions, fencing, or barriers during construction, maintenance,

and decommissioning must be utilized to mitigate glare from the ROW.

•

(N) potential impact on transportation networks.

• Impacts on transportation networks are likely to be limited to the duration when heavy

equipment and/or heavy loads need to be transported within the Reservation associated

with the construction (i.e., installation of log jack base design), adaptive management, and

removal phases, and potentially during the maintenance phase. Applicable road use

agreements must be in place and properly implemented to avoid, minimize, and/or mitigate

impacts to the transportation networks; these agreements must be in place prior to the

road use necessitating the agreement. Enbridge and their representatives (including

contractors and subcontractors) must adhere to applicable speed limits. Enbridge must post

appropriate signage as needed for safety and to minimize impacts to the transportation

networks including, but not limited to, along Government Road and along the Bad River.

Enbridge is working on obtaining the applicable road use agreements for the initial

installation of the log jack (i.e., base design).

References

Bad River Band of Lake Superior Tribe of Chippewa Indians. Bad River Water Quality Designations V2.0

Mapper. https://www.arcgis.com/apps/View/index.html?appid=6f44c371217e4ee8b5f1c2c705c7c7c5.

Accessed: 7/1/2024.

Bad River Band of the Lake Superior Tribe of Chippewa Indians, July 2011. Bad River Band of Lake

Superior Tribe of Indians Water Quality Standards. Adopted by Resolution No. 7-6-11-441. Odanah,

Wisconsin. https://www.badriver-nsn.gov/wpcontent/uploads/2020/01/NRD_WaterQualityStandards_2011.pdf.

Bad River Band of Lake Superior Tribe of Chippewa Indians, September 2018. Bad River Band PreDisaster Mitigation Plan. Adopted by Resolution No. 9-5-18-1094. Odanah, Wisconsin.

Bad River Band of Lake Superior Tribe of Chippewa Indians, January 2025. Brownfield Public Record.

https://www.badriver-nsn.gov/wp

content/uploads/2025/01/Public_Record_Brownfields_January_2025.pdf.

Bad River Band of Lake Superior Tribe of Chippewa Indians, 2001. Bad River Reservation Integrated

Resources Management Plan. Adopted by Resolution No. 4-4-01-77. Odanah, Wisconsin.

National Park Service (NPS), November 2024. Wild and Scenic Rivers Program: Nationwide River

Inventory. https://home.nps.gov/orgs/1912/nationwide-rivers-inventory.htm Accessed January 1, 2025.

Draft, 1/28/25

25

MNRD Decision in Support of Categorical Exclusion Determination: Right-of-Way Application

for Enbridge’s Log Jack Bank Stabilization Project at a Meander of the Mashkii Ziibii (Bad

River)

U.S. Geological Survey, July 2017. Measuring the July 2016 in Northern Wisconsin and the Bad River

Reservation: A Geonarrative by USGS. https://geonarrative.usgs.gov/badriver2016flood/

Draft, 1/28/25

26

This is a copy of a public record, reproduced as it was published. It is not legal advice, and it may not be the version a court would rely on. Check the official source before you cite it.

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