Notice 22 Jul 2025 texas, environmental assessment, restoration plan, coastal habitats, deepwater horizon, wetlands

🌊Deepwater Horizon Restoration Plan

This notice announces that the Deepwater Horizon (DWH) natural resource Trustees for the Texas Trustee Implementation Group (Texas TIG) have prepared and are making available to the public the Final Restoration Plan/Environmental Assessment #3: Wetlands, Coastal, and Nearshore Habitats (RP/EA #3) and Finding of No Significant Impact (FONSI). The Final RP/EA #3 considers alternatives to help restore wetlands, coastal, and nearshore habitats injured by the DWH oil spill. The Final RP/EA #3 evaluates a reasonable range of project alternatives under the Oil Pollution Act (OPA) and the OPA Natural Resource Damage Assessment regulations, and the National Environmental Policy Act (NEPA), and selects six projects for funding and implementation. A no action alternative is also evaluated pursuant to NEPA.

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Environmental Compliance, Infrastructure Development 16 Jan 2025 texas, restoration plan, natural resource damages, coastal habitats, deepwater horizon, wetlands

🌊Texas Deepwater Horizon Restoration Plan Open for Comments

The Deepwater Horizon (DWH) natural resource Trustees for the Texas Trustee Implementation Group (Texas TIG) have prepared the Draft Restoration Plan/Environmental Assessment #3: Wetlands, Coastal, and Nearshore Habitats (Draft RP/EA #3). The Draft RP/EA #3 proposes alternatives to help restore wetlands, coastal, and nearshore habitats impacted by the DWH oil spill. The Draft RP/EA #3 evaluates eight restoration alternatives under the Oil Pollution Act of 1990 (OPA), including criteria set forth in the OPA Natural Resource Damage Assessment (NRDA) regulations and the National Environmental Policy Act (NEPA) and its implementing regulations. A No Action Alternative is also evaluated pursuant to the NEPA. The total estimated cost to implement the Texas TIG's seven preferred alternatives is approximately $40 million. The Texas TIG invites the public to comment on the Draft RP/EA #3.

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