Manchin To USDA: Prioritize Chesapeake Bay Health, Support Farmers In Reducing Pollution
Washington, DC – Today U.S. Senator Joe Manchin (D-WV) led bipartisan, bicameral members representing the Chesapeake Bay region in a letter to the U.S. Department of Agriculture (USDA) urging continued investment in the health of the Chesapeake Bay.
The Members wrote in part, “As members of the Chesapeake Bay delegation, we write with recommendations regarding implementation of the Regional Conservation Partnership Program (RCPP) under the 2018 Farm Bill. We thank you and your team for your ongoing work to implement the 2018 Farm Bill, which included key improvements to benefit water quality and the health of the Chesapeake Bay.”
“As you know, the U.S. Department of Agriculture (USDA)’s financial and technical assistance for conservation efforts plays a critical role in cleaning up the Chesapeake Bay watershed and supporting states’ efforts to meet their commitments under the Chesapeake Clean Water Blueprint by 2025. These programs are essential to support farmers throughout the region as they adopt best management practices to limit the runoff of nitrogen, sediment and phosphorus and to improve the health of the Chesapeake Bay,” the Members continued.
Senator Manchin was joined by Senators Chris Van Hollen (D-MD), Bob Casey (D-PA), Ben Cardin (D-MD), Shelley Moore Capito (R-WV), Chris Coons (D-DE), Tom Carper (D-DE), Tim Kaine (D-VA), and Mark Warner (D-VA).
In addition, Representatives John P. Sarbanes (D-MD), Bobby Scott (D-VA), Steny H. Hoyer (D-MD), C.A. Dutch Ruppersberger (D-MD), Jamie Raskin (D-MD), Don Beyer (D-VA), David Trone (D-MD), Gerry Connolly (D-VA), Anthony G. Brown (D-MD), Eleanor Holmes Norton (D-DC), Donald McEachin (D-VA), Elaine Luria (D-VA), Lisa Blunt Rochester (D-DE), Jennifer Wexton (D-VA), Abigail D. Spanberger (D-VA) and Kweisi Mfume (D-MD) joined the letter.
The letter can be read in full below or click here.
Dear Chief Lohr:
As members of the Chesapeake Bay delegation, we write with recommendations regarding implementation of the Regional Conservation Partnership Program (RCPP) under the 2018 Farm Bill. We thank you and your team for your ongoing work to implement the 2018 Farm Bill, which included key improvements to benefit water quality and the health of the Chesapeake Bay.
As you know, the U.S. Department of Agriculture (USDA)’s financial and technical assistance for conservation efforts plays a critical role in cleaning up the Chesapeake Bay watershed and supporting states’ efforts to meet their commitments under the Chesapeake Clean Water Blueprint by 2025. These programs are essential to support farmers throughout the region as they adopt best management practices to limit the runoff of nitrogen, sediment and phosphorus and to improve the health of the Chesapeake Bay.
RCPP was created in the 2014 Farm Bill by consolidating four previously separate programs, including the Chesapeake Bay Watershed Initiative (CBWI). CBWI provided an annual average of over $47 million over five years for conservation in our region, but that level of funding has not yet been provided to the region through RCPP. The 2018 Farm Bill made further modifications to RCPP, and the program continues to significantly contribute to farmer and partner driven conservation in the Chesapeake Bay Watershed. To further enhance opportunities for the Chesapeake Bay Watershed and implement the changes included in the 2018 Farm Bill, we provide the following recommendations for inclusion in the RCPP final rule:
1) Ensure
the Chesapeake Bay watershed remains a Critical Conservation Area (CCA)
Agricultural conservation efforts are central to the Chesapeake Bay states’
Phase III Watershed Implementation Plans (WIPs). Our states’ agricultural
sectors are committed to ongoing efforts to contribute to meeting nutrient
reduction goals by 2025. Focused and targeted investments through partner
driven programs like RCPP are a critical component of supporting our farmers in
their efforts to improve the health of the Bay. We appreciate that the Farm
Bill allocated 50 percent of RCPP funding to CCAs, and urge you to ensure that
the Chesapeake Bay retain its CCA designation. The 2018 Farm Bill made
clear that Congressional intent was for the current CCAs to remain in place for
the duration of the 2018 Farm Bill, unless the resource concerns of a given CCA
were fully addressed. As conveyed through our states’ WIPs, there is still
significant conservation needed to address water quality goals in the
Chesapeake Bay.
2) Provide
support for the critical role that technical assistance plays in RCPP
agreements.
We urge you to ensure that partners have appropriate technical assistance
and administrative support from NRCS. We appreciate that Section 1464.23 (c) of
the interim rule allows NRCS to provide funding to a partner for activities
such as outreach, education and the development of metrics. As part of this
critical component of RCPP projects, we also support the coverage of project
management as part of an “Enhancement TA” allocation, within both RCPP Classic
as well as the 2020 Alternative Funding Arrangement (AFA) funding announcement.
We urge you to explicitly authorize this option in the final rule. There is a
high administrative burden on lead partners and allowing them to recoup at
least part of these costs is important and should be clearly stated.
Additionally, we urge NRCS to provide clear guidance regarding the distinction
between partner and NRCS roles under AFA or grant agreements. Following the
publication of the AFA announcement, several outstanding questions remain,
including questions around NRCS sign-off on implemented practices, producer
privacy, contracts between partners and producers and the role of partners in
monitoring project implementation following AFA completion.
3) Clearly
include and identify reporting requirements in the final rule.
As highlighted in the Background section of the interim rule, and as
directed in Section 2703 of the 2018 Farm Bill, NRCS must provide a semi-annual
report on the status of obligated contracts and an annual report describing how
the Secretary used technical assistance. This transparency and information is
critical to partners in the Chesapeake Bay, and we urge NRCS to ensure that
these details and directives are included in the final rule. Further, Section
2706 of the 2018 Farm Bill also required reports to Congress on RCPP projects.
We recommend that these requirements also be specified in the interim rule. For
CCAs, these reporting requirements include critical information regarding how
conservation outcomes and goals are being achieved through the selected RCPP
projects.
4) Align
Chesapeake Bay CCA goals with local WIP goals, CEAP findings and prioritize
conservation outcomes.
The 2018 Farm Bill adds language to the purpose of RCPP directing USDA to
engage producers and partners in projects to achieve “greater conservation
outcomes and benefits” for producers than would otherwise be achieved. We
therefore urge NRCS to ensure that RCPP implementation maximizes conservation
outcomes and benefits for the Chesapeake Bay. We urge you to work with your
State Technical Committees to inform the project selection and ranking process
at the state level. Further, our states’ WIPs, which include local area goals,
as well as the Chesapeake Bay Conservation Effects Assessment Project (CEAP)
can help identify the acres, practices and projects with the greatest potential
for water quality benefits. Through RCPP, and through collaboration with Bay
partners, NRCS should ensure that targeted conservation efforts continue to
improve the health of the watershed.
Thank you for considering our recommendations and we look forward to working with you on RCPP implementation and continued efforts to support farmers and program partners in the Chesapeake Bay watershed.
Next Article Previous Article