logo
Linnaean Society of NY


Home
About Us
Officers / Committees
Conservation
Field Trips -
General Info
Field Trips -
Schedule
Field Projects
Membership /
Contributions
Programs /
Lectures
Publications
Carl Linnaeus
Internet Links
Contact Us

Conservation Issues


The Conservation Committee of The Linnaean Society of New York researches and presents its findings concerning conservation issues of local interest.  The Committee currently has reported on the following topics:

1. The Future of Ridgewood Reservoir

2. Letters to Governor Corzine re: Horseshoe Crab Harvest
2a. Letter of February 20, 2008
2b. Letter of March 18, 2008

3.  Enterprise Park at Calverton (EPCAL) - Long Island's Largest Grassland
3a. Letter supporting NYS-DEC assertion of jurisdiction over EPCAL


Conservation Committee

Elise Boeger
Jeffrey Kimball
Susan Scioli
Brandon Soucy
[Position vacant] (Chair)


The Future of Ridgewood Reservoir
(last updated 1/14/2008)

BACKGROUND:

The former Ridgewood Reservoir is a 50-acre park adjacent to Highland Park along the Brooklyn/Queens border.  Built in 1856 on a natural basin, the reservoir was used until 1959 and served as a backup water supply for Brooklyn and Queens until 1989.  In 2004, the NYC Department of Environmental Protection turned ownership of the site over to the Department of Parks and Recreation.  Under the Open Spaces initiative of PlaNYC2030 the City has expressed the intention to transform Highland Park/Ridgewood Reservoir into a "destination park" by transforming all or part of the largest of Ridgewood's three basins (a 23 acre area) into an active recreation center while setting aside the other two basins as a nature preserve.

FACTS:

Overview: 
The City's Open Spaces proposal describes Ridgewood Reservoir as "overgrown," but it is in fact a unique, natural sanctuary like nothing else that can be found within the boundaries of New York City.  Situated along the terminal moraine, Ridgewood Reservoir is an urban oasis of early succession forests, vernal ponds, birch bogs, and other diverse habitats providing homes for all manner of native flora and fauna.  The proposed conversion of all or part of one of the three basins in Ridgewood Reservoir into active recreation (ie. ball-fields) would effectively destroy up to 23 acres of forested habitat. 

Birds: 
Ridgewood Reservoir's location along the Atlantic flyway makes it particularly hospitable to birds.  A breeding bird survey, led by Steve Nanz and Heidi Steiner-Nanz of the Brooklyn Bird Club, was conducted at Ridgewood Reservoir in Spring and Summer of 2007.  To date during 2007, over 135 species of birds have been documented.  Approximately 30% of these birds are neotropical migrants.  Twenty bird species were confirmed as breeding at the Reservoir, with an additional nineteen species listed as possible or probable breeders.  The New York State threatened species Pied-Billed Grebe is a year-round resident.  Short Eared Owl, a New York State endangered species, has also been observed.  Eight bird species categorized on the Audubon 2007 Watchlist as being either declining or rare and of national conservation concern have been documented at Ridgewood Reservoir.  These include Willow Flycatcher and Wood Thrush, which are also probable breeders at the Reservoir.  In addition, three of the birds listed by Audubon as the Top 20 Common Birds in Decline are present at Ridgewood: Northern Pintail (#3 common species in decline), Field Sparrow (#9), and Common Grackle (#14).  Common Grackle is a confirmed breeder at the Reservoir.

Plants:
Informal research on the various plant species to be found at Ridgewood Reservoir has been conducted by Uli Lorimer, Curator of Native Flora at the Brooklyn Botanic Garden.  His report starts with the opinion that "As seen through the eyes of a horticulturist and naturalist, the Ridgewood Reservoir represents a unique opportunity to study the process of forest succession in an urban environment."  He does note that invasive species have gained a foothold in some areas, and efforts should certainly be made to eliminate these and replace them with native species.  The list of plants at the Reservoir includes a number of native wildflowers and grasses, including Slender Blue Iris, a New York State threatened species, and endangered plant species Late-Flowering Boneset, Fringed Boneset, and Globe-Fruited Seedbox.  (To see Uli Lorimer's report, follow the link to the iLAND website on our Internet Links page.)

Trees: 
It seems paradoxical for the City to have the stated goal in PlaNYC2030 of planting one million trees while simultaneously proposing to raze up to 23 already existing acres of early succession forest containing tree species such as Red Maple, Grey Birch, Pin Oak, Sweetgum, Willow, Poplar and others.  An additional argument for the preservation of Ridgewood Reservoir's natural habitats can be found in the research that has been done, by Stuart Gaffin of the Earth Institute at Columbia University and others, on urban heat islands and the ability of trees to lower temperatures and purify air. 

Watershed:
There also is the question of whether the City's plan of filling in all or part of one of Ridgewood's basins even would be viable.  These natural basins are part of the Newtown Creek Sewershed, which feeds into the Jamaica Bay Watershed complex.  A similar conversion was attempted a number of years ago at Strack Pond in Forest Park, Queens.  The ball-fields thus created were consistently prone to flooding, and then Parks Commissioner Henry Stern eventually ordered that the Pond be returned to its natural state.

CONCLUSION:

Ornithologists, botanists, amateur naturalists, neighborhood residents, and local politicians have all expressed serious concern about, or opposition to, the City's intentions, both in the community listening sessions held earlier this year and with the formation of the Ridgewood Reservoir Education and Preservation Project.  The Conservation Committee does not believe that up to 23 acres of unique natural habitat in one of Ridgewood Reservoir's basins should be sacrificed to create ball-fields and sporting facilities.  As neighborhood residents and local politicians have made clear in community listening sessions, meetings, newspaper articles, and elsewhere, sufficient ball-fields and other recreational facilities of this type already exist in the adjacent Highland Park.  These facilities are currently underutilized and poorly maintained and the City would best concentrate its efforts on renovation and upgrades to the existing facilities.  If additional facilities are truly needed, the City should explore alternatives that do not involve the destruction of a site with the potential to be one New York City's premier natural destinations.  Particularly when so many elements of the City's PlaNYC2030 are pro-environment, it would be a great loss for all concerned if what could potentially be one of the jewels of such a plan were destroyed by ill-considered and irrevocable measures.  It is the hope of the Conservation Committee that the City's efforts be redirected on preserving what already exists at Ridgewood Reservoir, with any improvements geared towards realizing the site's exemplary potential as a world-class nature preserve.

__________________

This is an ongoing and quickly evolving situation.  Up-to-date information can be found on the website of the Ridgewood Reservoir Education and Preservation Project (see our Internet Links page).

A letter on this issue, based on the information contained in the above report, was mailed by the Conservation Committee on behalf of the Society in early January 2008 to over 45 City, State and Federal officials, including Mayor Bloomberg, Parks Commissioner Benepe, Senators Clinton and Schumer, Governor Spitzer and others. 
 




Letters to Governor Corzine re: Horseshoe Crab Harvest

Update:  on March 25, 2008 Governor Corzine signed the horseshoe crab moratorium legislation, as requested by the Society and others.

On February 11th the New Jersey Marine Fisheries Council voted 5-4 to end New Jersey's two-year moratorium on the harvesting of Horseshoe Crabs.  On February 20th, the following letter was mailed by the Conservation Committee on behalf of the Society to Governor Jon S. Corzine, who has the authority to put in place an emergency Executive Order to ensure no crabs are harvested this upcoming season.

Members who would like additional information on the challenges faced by the Red Knot are referred to U.S. Fish & Wildlife’s 2007 Report: Status of the Red Knot (Calidris canutus rufa) in the Western Hemisphere (see our 
Internet Links page).

February 20, 2008

Governor Jon S. Corzine
125 W. State St.
P.O. Box 001
Trenton, NJ 08625

RE: EMERGENCY BAN ON HORSESHOE CRAB HARVEST


Dear Governor Corzine,

The Linnaean Society of New York has served the interests of the natural history community since 1878.  Our members reside throughout the tri-state area and are part of the immense birding community that regularly visits Cape May and other areas throughout your state, contributing substantially to ecotourism in New Jersey.  We wish to add our voice to the mounting consternation over the February 11th vote by the New Jersey Marine Fisheries Council to end the two-year moratorium on the harvesting of Horseshoe Crabs, despite overwhelming public support in favor of extending the ban.  We write today to implore you to immediately put in place an Emergency Order to ban Horseshoe Crab harvesting in New Jersey with the exception of biomedical use. 

As you may be aware, the Red Knot is a migratory shorebird that relies on the consumption of Horseshoe Crab eggs during a crucial part of its annual spring migration from Southern Argentina to its breeding grounds near the Arctic Circle.  To successfully complete this arduous journey, the Red Knot requires energy that only these eggs can provide.  The northern shore of Delaware Bay in New Jersey is the bird's most critical refueling stop.  Continuing the Horseshoe Crab harvest in New Jersey will move the already threatened Red Knot inexorably to the brink of extinction.

We know that on February 25th a bill will be introduced in the New Jersey State legislature banning the harvesting and possession of Horseshoe Crabs with an allowance for biomedical use.  However, the Red Knot needs this protection right now.  The Horseshoe Crab, a 350 million year old creature whose uniquely evolved characteristics have been of great benefit to biomedical science, itself faces serious threats to its survival from over harvesting and it too requires immediate protection.

As this legislation will take time to pass, and the Red Knot has already begun this spring's long migration northward, we join with the American Bird Conservancy, New Jersey Audubon and others in urging you to implement an Executive Emergency Order to extend the moratorium and ban Horseshoe Crab harvesting immediately.

We thank you for your consideration and hope that you will act with all the speed this matter requires.

Respectfully yours,

/s/ Sandra Paci

The Linnaean Society of New York
By: Sandra Paci, Chair, Conservation Committee


March 18, 2008
 
Governor Jon S. Corzine
125 W. State St.
P.O. Box 001
Trenton, NJ 08625
 
RE: LEGISLATION BANNING HORSESHOE CRAB HARVEST (S1331)


 Dear Governor Corzine,
 
On Monday March 17, with a unanimous vote of 39-0, The New Jersey Senate voted to approve legislation banning the harvest of horseshoe crabs in an effort to help the recovery of the Red Knot, a shorebird currently headed towards extinction.  In the past few weeks, this measure passed with similar overwhelming bipartisan consensus in the Assembly Agriculture and Natural Resources Committee (5-0), the Senate Environment Committee (6-0), and the State Assembly (70-6).  The legislators of the State of New Jersey are to be commended for demonstrating real leadership on this issue and it can only be hoped that other States and the Federal Government will follow their lead. 
 
This bill will now be presented for your signature and we join other environmental organizations and concerned citizens in urging you to sign this important piece of legislation into law.  We thank you for your consideration and hope that you will act with all the speed this matter requires.
 
Respectfully yours,
 
 
/s/ Sandra Paci
 
The Linnaean Society of New York
By: Sandra Paci, Chair, Conservation Committee





Enterprise Park at Calverton (EPCAL)
Saving Long Island's Largest Grassland

(Last updated 05/22/08)

BACKGROUND:

The parcel of land known as Calverton Grasslands or Enterprise Park at Calverton (EPCAL) is a 2,948-acre site formerly leased to Northrup Grumman by the U.S. Navy.  When the Grumman plant closed in the mid-1990s the Federal Government gave the land to the town of Riverhead to replace its lost economic base.  For various reasons, some of which are outlined below, development has been slow to take place.

423 acres of the EPCAL property is Pine Barrens Core Preservation Area habitat where no new development is permitted.  The remainder is Pine Barrens Compatible Growth Area, where only limited, environmentally compatible development is allowed.  Approximately 850 acres consists of Long Island's largest contiguous grassland.  Calverton Ponds, a system of freshwater ponds to the south of EPCAL, is related to aquifer and ground waters directly beneath the site.  The site also contains 10 kettle hole ponds and borders the Peconic River, which is protected under the "Wild, Scenic and Recreational Rivers Act." 

The Coalition for Open Space At EPCAL (the Coalition), an alliance of over 20 civic, environmental and other concerned organizations led by the Nature Conservancy and Group for the East End, and which the Linnaean Society joined in March 2008, has been formed to ensure that a thorough environmental review of the entire site takes place as specified under the New York State Environmental Quality Review Act process.  The Coalition has put forward a comprehensive proposal that balances environmental and quality of life concerns with appropriately scaled, common-sense economic development.

New York State Department of Environmental Conservation stepped in April 2008, filing a motion to assert jurisdiction over the site and halting work on development in progress. This action will ensure that an independent and comprehensive environmental review is undertaken to accurately assess the impact of any proposed development on the EPCAL site, the habitats of which support a diversity of NYS-listed threatened and endangered birds and other wildlife.  Commissioner Grannis and the DEC are to be commended for taking this thoughtful and appropriate position.


ABBREVIATED SUMMARY OF FAUNAL INVENTORIES:

As per the NYS Amphibian & Reptile Atlas Project (1999), 24 species are found at EPCAL, 6 of which are listed as Wildlife Species of Regional Conservation concern in the Northeastern U.S.: Eastern Tiger Salamander, Eastern Spadefoot, Spotted Turtle, Eastern Box Turtle, Ribbon Snake, and Eastern Hognose Snake.  Eastern Tiger Salamander, which also breeds at the site's kettlehole ponds, is a NYS-listed endangered species.

As per the NYS Breeding Bird Atlas survey (2000-2005) and other sources, over 120 species of birds are documented at EPCAL, 27 of which are grassland dependant.  Of these, 7 are considered by NYS as either endangered (Short Eared Owl), threatened (Northern Harrier), or species of special concern (Common Nighthawk, Grasshopper Sparrow, Horned Lark, Vesper Sparrow, and Whip-poor-will).  All of these species, plus 2 other grassland species (Eastern Meadowlark and Northern Bobwhite), are listed by NYS-DEC as species of greatest conservation need.

14 grassland dependant species are confirmed breeders at EPCAL (including Blue Grosbeak, Eastern Bluebird, Eastern Meadowlark, Grasshopper Sparrow, Northern Bobwhite, Vesper Sparrow). The EPCAL property is the single most productive breeding site in all of New York State for Grasshopper Sparrows.  11 additional grassland dependant species are possible or probably breeders at EPCAL (including American Kestrel, Common Nighthawk, Horned Lark, Indigo Bunting, Northern Harrier, Savannah Sparrow, and Whip-poor-will).  All told, an astounding 52 bird species are confirmed as breeders at Calverton/EPCAL, with an additional 43 species listed as probable or possible breeders.

In addition to providing critical breeding habitat, the grasslands at EPCAL also provide valuable foraging and roosting winter habitat for species such as the NYS-listed endangered Short-eared Owl and NYS-listed threatened Northern Harrier.  With the documentation of Short-eared Owls at the site, the DEC has appropriately sought jurisdiction for protecting this endangered species and their habitat.


DEVELOPMENT:

The threat facing the grassland and other habitats at EPCAL comes in the form of unrestricted development on selected parcels of land. 

In 2001, developer Jan Burman purchased 500 acres from the town of Riverhead for industrial development.  200 acres has since been resold to manufacturing companies.  Some of this land is on or adjacent to footprints of former Grumman buildings and is adjacent to the grasslands.  In fall of 2007 Rechler Equity entered into contract with town of Riverhead for $35 million to purchase 300 acres for a 2.5 million square foot industrial development.  This tract is a forested area northeast of the grasslands.  RexCorp (owned by Rechler) previously failed in its proposal to build EPCAL Center, which was to include an equestrian complex and a 10,000-seat NASCAR racetrack.  This would have been on the same parcel now under contract to Riverhead resorts.

In January 2008, the town of Riverhead signed a contract and accepted a deposit from the Scottish-owned consortium Riverhead Resorts to purchase 755 acres for $155 million. This tract is west of and adjacent to the grasslands.  The scale of their proposed project is almost unimaginable for this area.  By the developer's own estimate, 2 million people per year could be expected to travel to the site.  "Highlights" of the $1.5 billion dollar project include: 8 resort complexes with 2,000 hotel rooms and 3,500 time-share units; a 100,000 square foot convention center; a 350-foot indoor ski mountain, and a 90-acre artificial lake.

This massive proposal has raised important concerns in neighboring communities like Brookhaven regarding quality of life issues such as increases in traffic, road repairs, impacts on ground and surface water quality, pressure on Long Island's already overstressed power grid, and provisions for sewage treatment and waste management.  Conservation groups and area Audubon societies share these concerns, and also are focused on the threat to Long Island's last remaining large tract of grassland habitat and possible consequences for a number of grassland dependent species and species of local and regional conservation concern.

In order to move the Riverhead Resorts proposal forward, the town of Riverhead has applied to NYS to alter the "Wild, Scenic and Recreational Rivers Act," which currently protects the Peconic and has hindered past development at the site.  In response, the Peconic Baykeeper has joined the Coalition.  The 350-foot ski mountain would be the second tallest thing on L.I. and would require approval from the F.A.A.  The town of Riverhead has also moved to sidestep the environmental review process by requesting only partial reports on selected tracts rather than a comprehensive review of the entire site. It is clear that Riverhead, which stands to gain greatly from economic development at the site, should not be responsible for overseeing the environmental review process.


CONCLUSION:

Four members of the Linnaean Society Conservation Committee met with Patricia Pelkowksi, the Nature Conservancy's Pine Barrens specialist, at Calverton Grasslands/EPCAL on Sunday, March 9.  During that two-hour meeting we were able to observe firsthand what is at stake and what could be lost if Riverhead Resorts proposed project ever comes to fruition. The Conservation Committee members concluded that Calverton Grasslands/EPCAL is a site of local, regional, and even national significance and is both worthy and needing of protection. 

The Linnaean Society Council, at its March meeting, voted to join the Coalition for Open Space at EPCAL.   It was the first group outside of the eastern Long Island area to do so.  This decision has given impetus to other New York City based groups, such as the Brooklyn Bird Club, to support and join the Coalition, giving a wider regional perspective to this issue.  The reports from mid-May 2008 of Scissor Tailed Flycatcher and pair of Upland Sandpipers (possibly a breeding pair -- still to be determined) serve to underscore the importance of the site.

Below is the text of a letter sent by the Conservation Committee on behalf of the Society to Governor Paterson and copied to the recipients listed below on May 22, 2008.  In the future, the Committee plans to keep abreast of this issue, communicate with other members of the Coalition, and engage in further action as warranted.

__________________

Letter Supporting NYS-DEC Assertion of Jurisdiction Over EPCAL

[Letterhead of the Linnaean Society of New York]

May 21, 2008

Governor David A. Paterson
State Capitol
Albany, NY 12224

RE: SUPPORT OF NYS-DEC ASSERTION OF JURISDICTION OVER EPCAL

Dear Governor Paterson,

The Linnaean Society of New York was founded in 1878 by a group of amateur naturalists.  For over 100 years, the Society has served interested amateurs and professional scientists alike.  Today, our many members are a group of diverse people with an active interest in ornithology, natural science, and conservation.

We write to express our strong support for New York State Department of Environmental Conservation’s (DEC) assertion of jurisdiction over Enterprise Park at Calverton (EPCAL).  This action will ensure that an independent and comprehensive environmental review is undertaken to accurately assess the impact of any proposed development on the 2,900 acre EPCAL site, the habitats of which support a diversity of NYS-listed threatened and endangered birds and other wildlife.  The town of Riverhead, which stands to gain greatly from economic development at the site, should not have responsibility for overseeing the environmental review process.

The EPCAL site contains one of the last remaining expanses of contiguous grassland habitat on Long Island.  This important habitat supports the most diverse and viable grassland bird community on Long Island, including breeding populations of state-listed species such as Common Nighthawk, Vesper Sparrow, Horned Lark, and Whip-poor-will, among others.  The EPCAL property is also the most productive breeding site in all of New York State for Grasshopper Sparrows, a NYS species of special concern.  The most recent NYS Breeding Bird Atlas survey, conducted in 2000-2005, confirms a total of 52 species of breeding birds at EPCAL.

In addition to providing critical breeding habitat, the grasslands at EPCAL also provide valuable foraging and roosting winter habitat for species such as the NYS-listed endangered Short-eared Owl and NYS-listed threatened Northern Harrier.  With the documentation of Short-eared Owls at the site, the DEC has appropriately asserted jurisdiction for protecting this endangered species and their habitat.  As well as grasslands, the property contains ten kettle hole ponds, which are documented breeding sites for NYS-listed endangered Eastern Tiger Salamander.

The massive Riverhead Resorts proposal has also raised important concerns in neighboring communities like Brookhaven regarding quality of life issues such as increases in traffic, impacts on ground and surface water quality, energy use, waste management, and others.  We stand with Commissioner Grannis and the DEC, the members of the Coalition for Open Space at EPCAL, and others in calling for an independent and comprehensive assessment of the entire EPCAL site that balances environmental and quality of life concerns with appropriately scaled economic development.

Again, we urge your support of the thoughtful and appropriate position taken by the DEC.

Respectfully yours,

 /s/ Sandra Paci

The Linnaean Society of New York
By: Sandra Paci, Chair, Conservation Committee


CC:
Judith Enck, Deputy Secretary of the Environment
Pete Grannis, Commissioner, NYS-DEC
Christopher A. Amato, Asst. Commissioner for Natural Resources, NYS-DEC
Peter A. Scully, Regional Director, NYS-DEC
Steve Levy, Suffolk County Executive
Edward P. Romaine, Suffolk County Legislator
NYS Senator Kenneth P. LaValle
NYS Assemblyman Marc S. Alessi
US Congressman Tim Bishop





Copyright © 2010 The Linnaean Society of New York - All rights reserved.
Home  About Us  Officers / Committees Conservation Field Trips - General Info
Field Trips - Schedule Field Projects Membership / Contributions Programs / Lectures Publications
Carl Linnaeus Internet Links  Contact Us