HomeMy WebLinkAboutDMF Letter NOI Madden to Barnstable ConComThe Commonwealth of Massachusetts
Division of Marine Fisheries
(617) 626-1520 | mass.gov/MarineFisheries
Maura T. Healey
Governor
Kimberly Driscoll
Lt. Governor
Rebecca L. Tepper
Secretary
Thomas K. O’Shea
Commissioner
Daniel J. McKiernan
Director
May 12, 2026
Barnstable Conservation Commission
367 Main Street,
Hyannis MA, 02601
Dear Commissioners:
The Massachusetts Division of Marine Fisheries (MA DMF) has reviewed the Notice of Intent
(NOI) by Stephen Madden to reconstruct and extend an existing permanent pier, gangway, and
float within West Bay at 95 Eel River Road in the Town of Osterville. The project was reviewed
with respect to potential impacts to marine fisheries resources and habitat.
West Bay has been identified by MA DMF as diadromous fish passage, migration, and/or
spawning habitat for alewife (Alosa pseudoharengus), blueback herring (Alosa aestivalis),
American eel (Anguilla rostrata), and white perch (Morone americana) [1].
The project site lies within mapped shellfish habitat for northern quahog (Mercenaria
mercenaria) and softshell clam (Mya arenaria). Waters within the project site have habitat
characteristics suitable for these species. Land containing shellfish is deemed significant to the
interest of the Wetlands Protection Act (310 CMR 10.34) and the protection of marine fisheries.
Quahog and softshell clam were observed within and/or adjacent to the project site during a
shellfish survey conducted by Megalodon Environmental over a three day shellfish survey spread
throughout October 2022 to January 2023.
West Bay acts as winter flounder (Pseudopleuronectes americanus) spawning habitat. Winter
flounder enter the area and spawn from January through May; demersal eggs hatch
approximately 15 to 20 days later. The Atlantic States Marine Fisheries Commission has
designated winter flounder spawning habitat as a “Habitat Area of Particular Concern” (HAPC). In
the previous stock assessment, the winter flounder stock was classified as overfished, with
spawning stock biomass in 2019 estimated to be only 32% of the bio mass target [2]. Spawning
stock biomass in 2021 was estimated to be 101% of the biomass target based on a new
recruitment stanza focusing only on the past twenty years [3]. Given the new status of the winter
flounder stock, every effort should be made to protect the species and its spawning habitat.
MA DMF offers the following comments for your consideration:
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• A pier extension has the potential to negatively impact nearby shellfish resources and
fisheries in a variety of ways [4]. While some of these impacts can be avoided or reduced
with best management practices, others are unavoidable and will result in permanent
impacts to shellfish habitat and associated fisheries access. Support piles will directly
displace shellfish habitat, and piles may cause further indirect impacts that negatively
affect bordering shellfish habitat. Leachates from any pressure -treated wood used for
support piles or decking may also negatively impact nearby shellfish. Associated boating
activity could result in prop dredging if the float is installed in insufficient water depth
relative to the size of vessels using the structure. The support piles, float, and adjacent
footprints will likely not be accessible to commercial or recreational fisheries.
• Grounded floats can disturb bottom sediments, resulting in turbidity and direct impacts
to benthic habitat. To minimize impacts, MA DMF recommends that the bottom of a
proposed float be at least 2.5 feet above the substrate over marine habitat at MLW [4]. It
is not clear if the entire float as proposed would maintain this minimum clearance at
MLW. MA DMF recommends installing pile-supported float stops to maintain a 2.5-foot
clearance above the substrate at MLW.
• If approved, any activities requiring a barge should be restricted to 2 hours before and
after high tide to prevent barge grounding in marine habitat.
• Fuel spills from refueling of construction equipment will adversely impact sensitive
resource areas. Impacts to resource areas can be avoided by prohibiting all land -based
equipment from being refueled on-site. If equipment is refueled on-site, adequate
containment and clean-up material should be required to minimize impacts.
Questions regarding this review may be directed to Amanda Davis at amanda.davis@mass.gov.
Sincerely,
Amanda Davis
Environmental Analyst
MA Division of Marine Fisheries
cc:
Arlene Wilson, A.M Wilson Associates, Inc.
John Logan, Kara Falvey, Alicia Hecht, Holly Williams, Matt Camisa, MA DMF
Amy Croteau, Barnstable Shellfish Constable
Patrice Bordonaro, CZM
AD/kf/ah
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References:
1. MA DMF. MassGIS Data: Diadromous Fish. https://www.mass.gov/info-details/massgis-
data-diadromous-fish. Accessed February 8, 2023. 2023.
2. ASMFC. 2020. Southern New England Mid -Atlantic Winter Flounder 2020 Assessment
Update Report. http://www.asmfc.org/uploads/file/6008bd822020_SNE-
MA_WinterFlounderAssessmentUpdate.pdf
3. ASMFC. 2022. Southern New England Mid -Atlantic Winter Flounder 2022 Management
Track Assessment Report. Compiled June 2022. https://apps -
nefsc.fisheries.noaa.gov/saw/sasi.php
4. Logan, J.M., A. Boeri, J. Carr, T. Evans, E.M. Feeney, K. Frew, F. Schenck, and K.H. Ford.
2022. A review of habitat impacts from residential docks and recommended Best
Management Practices with an emphasis on the northeastern United States. Estuaries
Coasts 45: 1189–1216. https://www.mass.gov/doc/dock-bmp-
recommendations/download