New Stone Water District GSA - 5-022.06 SAN JOAQUIN VALLEY - MADERA, 5-022.05 SAN JOAQUIN VALLEY - CHOWCHILLA

New Stone Water District GSA - 5-022.06 SAN JOAQUIN VALLEY - MADERA, 5-022.05 SAN JOAQUIN VALLEY - CHOWCHILLA

A. Applicant Information

Requesting Agency Information
Agency Name: New Stone Water District GSA
Address: 9500 DeWolf Ave
City: Selma Zip: 93662
Work Phone: (559) 834-6677 Cell Phone:
Email: rskinner@lionraisins.com Fax:
Revision Request Manager Information
Person Name: Roger Skinner
Address: 9500 S. De Wolf
City: Selma Zip: 93662
Work Phone: 559-834-6677 Cell Phone:
Email: rskinner@lionraisins.com Fax:
 

B. Description of Proposed Boundary Modification

  1. Jurisdictional internal modifications bring New Stone WD fully witihin the Madera Sub-basin
    • Jurisdiction Internal
  2. New Stone Water District's boundaries overlie two basins: the Madera and the Chowchilla sub-basins. New Stone WD proposes to modify the existing basin boundary, moving he dividing line northerly to position the New Stone WD wholly within the Madera sub-basin. Operating within one basin will allow for simpler governance and increased ability to sustainably manage groundwater.
    • 5-022.06 SAN JOAQUIN VALLEY - MADERA
    • 5-022.05 SAN JOAQUIN VALLEY - CHOWCHILLA
  3. N/A

C. Initial Notification and Combination of Requests

  1. Yes
    Local Agency Potential Basin(s)/Subbasin(s)
    San Luis & Delta-Mendota Water Authority 5-022.07 SAN JOAQUIN VALLEY - DELTA-MENDOTA , 5-022.06 SAN JOAQUIN VALLEY - MADERA
    Aliso Water District 5-022.07 SAN JOAQUIN VALLEY - DELTA-MENDOTA , 5-022.06 SAN JOAQUIN VALLEY - MADERA
    New Stone Water District 5-022.06 SAN JOAQUIN VALLEY - MADERA , 5-022.05 SAN JOAQUIN VALLEY - CHOWCHILLA
    Madera County 5-022.06 SAN JOAQUIN VALLEY - MADERA
    Chowchilla Water District 5-022.05 SAN JOAQUIN VALLEY - CHOWCHILLA
    5-022.07 SAN JOAQUIN VALLEY - DELTA-MENDOTA , 5-022.05 SAN JOAQUIN VALLEY - CHOWCHILLA
    Madera County 5-022.05 SAN JOAQUIN VALLEY - CHOWCHILLA
  2. No

D. Required Documents for All Modifications

Does not qualify as a project under CEQA

E. General Information

Lateral Boundary: to correctly describe the lateral boundary, attached is a document showing edits to the existing bulletin 118 description of the Chowchilla and Madera sub basins. Bottom: base of fresh water - http://pubs.usgs.gov/ha/489/plate-1.pdf

F. Notice and Consultation

see attached file
New Stone Water District is in an isolated area as evident by the map. There are no adjacent districts or public water systems. In an effort to make others aware, New Stone Water District has reached out to nearby surrounding districts in the Chowchilla and Madera Sub-basin as well as the County of Madera.
An email explaining the modification and asking for support was sent to both the Chowchilla WD and the Madera ID, both of whom are coordinating efforts in their respective basin for GSA development. Additionally a letter to inform and request support has been sent to all affected agencies. Further, once deemed complete by DWR a final notification letter will be sent.
At District Board Meeting. see attached agenda and minutes.
Awaiting response to request for letters of support.

G. General Existing Groundwater Management

All requests for jurisdictional modification pursuant to Section 342.4 MUST include responses to the following questions.
New Stone WD currently relies on pumped groundwater as its main supply. This groundwater is principally recharged by the Chowchilla Bypass. The District is currently split between the Chowchilla and the Madera Sub-basins. Managing the District in two different basins, and complying with two different GSPs is unnecessary. New Stone WD's water supply is more greatly influenced by the Madera Sub-basin. Many of the actions mentioned in the Madera GWMP to rectify undesirable results, are similar to methods that could be used by New Stone WD, given their similar water supply and geology.
The adjacent basins have been receptive to the groundwater basin boundary modifications. They recognize the difficulty New Stone WD would face managing for two different GSPs, and that this will ease GSA formation and GSP implementation in their basins as well. Since New Stone WD is mostly reliant on groundwater, the Chowchilla Sub-basin will likely have an increased ability to manage its water supplies in a sustainable manner.
While largely reliant on groundwater, New Stone WD has made an effort to take surface water from the Chowchilla Bypass when available, and to improve their irrigation efficiency. These practices along with the influence of the San Joaquin River restoration, has improved groundwater reliability in the area. A Madera Regional Groundwater Management Plan also exist for Madera County. it consisted of many agencies in the Madera and Chowchilla Sub-basin working together to identify county wide issues, such as long-term overdraft. Not only does this demonstrate a history of management of groundwater, but also an ability for the basin to work together towards a common goal. These GWMP identified many corrective actions that could be used to rectify problems if they are determined to be significant and unreasonable during the development and implementation of the GSP.
The only State program that is likely to be impacted is CASGEM. Fortunately, the Madera-Chowchilla CASGEM group covers both the Madera and Chowchilla sub-basins. It may have an affect on how data is managed and submitted, but it will be covered by the same entity.

H. Local Support

All requests for boundary modification must include the following:
The attached letter has been sent to affected agencies informing them of the proposed basin boundary modification, and requesting their support. Also, Once the proposed basin boundary modification request is deemed complete by the DWR, then the attached notification letter will be sent to the affected agencies as well.
Awaiting responses
Awaiting opposition

I. Hydrogeologic Conceptual Model

Requests for boundary modification, must include a document or text to a clearly defined hydrogeologic conceptual model demonstrating each of the following:
it is requested that the Hydrogeologic Conceptual Model requirement be waived for this internal boundary modification. This modification does not include new hydrogeological features that would impact sustainable groundwater management in either the Madera or Chowchilla sub-basins.

L. Technical Studies for All Jurisdictional Modifications

Requests for a jurisdictional boundary must attach or provide a URL or upload a file for the following:
Madera ID has taken the lead to organize the Madera Sub-basin in response to SGMA. Meetings are being held to facilitate the formation of GSAs. New Stone will attend these meetings.
Created on 03/14/2016 at 3:56PM, last modified on 01/02/2018 at 11:23AM and page generated on 11/23/2024 at 11:12PM