About Badger Army Ammunition Plant
Campaigns
Profound Environmental Damage
Elevated Cancer Rates
Cleanup Plans Abandoned
Conversion to Peace
Ecological Restoration
Wisconsin River Watershed
Regulation of Conventional and Chemical Munitions
Background Narratives
Industrial Operations at Badger Army Ammunition Plant
Environmental Regulations
Base Closure
Biological Resources
Bird Inventories
Ho-Chunk Nation
State and Federal Agencies
Profound Environmental Damage
Environmental cleanup of the 7,400-acre Badger Army Ammunition Plant is
expected to exceed $250 million. Of the 40 contaminated military sites
in Wisconsin, the Defense Environmental Restoration Account cites Badger
as the most contaminated; 32 areas within the plant are polluted with high
levels of solvents, toxic metals and explosive wastes. Groundwater beneath
the plant is contaminated with cancer-causing chemicals, including carbon
tetrachloride, trichloroethylene and dinitrotoluenes. An area known as
the Propellant Burning Grounds is the source of a three-mile long plume
of contaminated groundwater that has migrated offsite, polluting private
drinking water wells in its path and dumping into the Wisconsin River.
Elevated Cancer Rates
In 1990, in response to community concerns about these exposures, the Wisconsin
Division of Health conducted a health survey. The study concluded that
communities near the Badger plant have a significantly higher incidence
of cancer deaths; the incidence of female non-Hodgkin's lymphoma and male
ureter /kidney cancer deaths were found to be 50% higher than the balance
of the State. Despite these alarming findings, the State refused to take
any subsequent action. In 1995, the Division of Health finally responded
to pressure from CSWAB and agreed to reopen the community health study.
On October 26, 1998, CSWAB submitted written comment on a draft Public
Health Assessment published the previous month by the Wisconsin Division
of Health. CSWAB concluded "there was entirely inadequate contact with
our community - the population being studied." Prior to September 1998,
no press releases were published, no public informational meetings were
held, and no interviews were conducted with stakeholders. The result is
an absence of even the most basic understanding of local concerns and conditions.
Despite several requests by CSWAB, virtually no resources were devoted
to interviewing residents as to current health problems and concerns that
they associate with their proximity to the Badger Army Ammunition Plant
and their exposure to air, fugitive dust, emissions, and surface soils;
associated and multiple routes of exposure were also not assessed. Assessment
of risk from current, pending, and anticipated cleanup activities was also
noticeably absent. CSWAB also determined the WDOH has concentrated on the
wrong type of illnesses, e.g. focusing on death studies when many health
problems and community concerns have been nonlethal, such as respiratory
illnesses or reproductive problems.
CSWAB has appealed directly to ATSDR's Board of Scientific Counselors
Subcommittee which met recently in Washington, DC to discuss the lack of
adequate community participation in this and similar health assessments
across the nation. The Wisconsin Department of Health conducted the assessment
under a cooperative agreement with ATSDR (Agency for Toxic Substances and
Disease Registry), the federal health agency responsible for final approval
of the study.
Cleanup Plans Abandoned
Contrary to an enforceable agreement with the State of Wisconsin, the Army
now proposes to abandon and severely reduce cleanup of two priority areas
within the plant. One of these areas, the Settling Ponds and Spoils Disposal
area -- a series of lagoons that run the length of the 7,000 acre facility
-- is contaminated with high levels of lead and carcinogenic dinitrotoluenes.
Instead of a $60 million cleanup approved by both the State of Wisconsin
and the USEPA, the Army proposes fencing and long-term monitoring of groundwater.
If the military is granted the compliance exemptions they seek, huge
expanses of land at Badger will be fenced off as unsuitable for development,
human habitation, or even wildlife habitat. Groundwater resources and nearby
drinking water wells will be at increased risk as pollutants migrate to
groundwater.
Many community members do not have the resources to continually test
their drinking water wells for contaminants associated with Badger, violating
federally-mandated environmental justice principles to provide low-income
people with equal protection of human health and their environment. Moreover,
any exemptions granted at Badger, will certainly spur demands from other
contaminated military and civilian sites for similar concessions.
Conversion to Peace
Maintenance of the Badger plant -- although not in production since
the 1970's -- costs in excess of $17 million per year. In 1991, by contrast,
only $3 million was allocated for environmental studies. Built in 1942
in response to World War II, the production facilities at the Badger plant
are obsolete and would require over $119 million in upgrades to meet current
state and federal environmental standards. In addition to these extraordinary
fiscal costs, environmental damage continues to plague the facility --
since 1975, there have been over 56 chemical spills and incidents. Moreover,
there is no national strategic need for maintaining the Badger plant. A
February 20, 1997 Government Accounting Office report concludes BAAP and
three other military plants could be eliminated "because alternative sources
exist...to provide the capabilities these plants provide."
Ecological Restoration
The expected decommissioning of the Badger Army Ammunition Plant represents
one of the greatest opportunities for large-scale conservation in southern
Wisconsin. In the coming year, CSWAB's work will focus primarily on influencing
the future use of the Badger Army Ammunition Plant.
When the first European visitors came to this land they encountered
a mosaic of tallgrass prairie, open woodland and scattered mixed forest
in the Baraboo Hills. The large plain sandwiched between the Baraboo Hills
and the Wisconsin River was known as the Sauk Prairie, a 14,000-acre expanse
of tall- and short-grass prairie. The closing of the Badger Army Ammunition
Plant presents a rare opportunity to protect a piece of our prairie heritage
that has almost been lost in Wisconsin and the Midwest.
At the same time, Olin Corporation, an international chemical company
responsible for such environmental catastrophes as New York's Love Canal,
is actively lobbying for conversion of Badger to a monstrous industrial
complex including varnish, paint and lacquer manufacturers, ethanol and
cosmetics industries, and nitrogenous fertilizer plants. The proposed industrial
park will be larger than all of Sauk County's existing industrial parks
combined - more than 600 acres.
Accelerated, scattered rural development in the Hills will increase
as people move into the area for jobs at the newly redeveloped plant. Scattered
rural development poses the largest threat to the unbroken forest that
covers the Baraboo Hills. These hills are nationally recognized for their
outstanding geology and diverse ecological resources; they include some
40,000 acres of mature second-growth forest that is home to 23 species
considered threatened or endangered.
The Nature Conservancy, under a federal contract with the Department
of Defense, conducted a biological inventory at Badger in 1993 and found
a wide variety of natural community or habitat types, including remnants
of prairie and savanna. Many rare or uncommon plant, animal, and insect
species were also found, including a large number of grassland bird species
of special concern in Wisconsin.
The Badger property presents the unusual opportunity to manage a continuum
of prairie, savanna, and woodland vegetation stretching from the Badger
prairie into the Baraboo Bluffs. Protecting this land would maintain an
important part of Southern Wisconsin's history and unique natural resources.
Two nearby decommissioned military facilities--Joliet Arsenal and the
Savanna Army Depot (both in northern Illinois)-- serve as models for our
vision for the future of the Badger plant as these former military facilities
have been closed and ecological restoration is planned for the sites. At
the former Joliet Arsenal (near Joliet, Illinois), a 19,000-acre restored
prairie --the Midewin National Tallgrass Prairie--has been planned for
the 23,500-acre facility. Strong, effective grassroots organizing made
these successes possible.
The community must come together to develop a vision -- a vision that
reflects the needs and priorities of the community. A vision that is sensitive
to the economic needs of the community, that is considerate of adjacent
lands and resources and promotes protection and preservation of indigenous
plants and animals. A vision that will improve and enhance the quality
of life for ourselves and our children and will nurture and protect our
natural resources.
Wisconsin River Watershed
Surface water and groundwater resources in and around the Badger Army Ammunition
Plant, located in the Wisconsin River watershed, must be protected. Of
special interest are 13 ponds within the site; some of the ponds are formed
in borrow pits or are old farm ponds. Others are natural kettle ponds.
Previous biological surveys have indicated these surface water resources
provide valuable habitat for unique fauna, particularly aquatic beetles
and amphibians. The largest water body on the site is the 7-acre Ballistics
Pond, which drains about 1000 acres north of the plant and 450 acres of
plant property.
Groundwater at Badger is hydrologically connected to the nearby Wisconsin
River. Groundwater contaminants -- tricholorethylene, carbon tetrachloride
and chloroform -- emanating from the Badger plant have migrated several
miles offsite and have reached the Wisconsin River. At the same time, proposed
reindustrialization will increase direct industrial and sanitary wastewater
discharges, further reducing already depleted available oxygen levels in
the river.
Potential contaminants in the discharge, which will exceed 4,000 gallons
per minute, threaten the river ecology. The Wisconsin River together with
its associated tributaries and wetlands provides drinking water, supports
and sustains wildlife, provides habitat for fish and aquatic species (including
the Mississippi paddlefish and the American Bald Eagle), fulfills a wide
range of recreational needs, and is an invaluable and irreplaceable natural
resource.
Regulation of Conventional and Chemical Munitions
The environmental legacy of the federal government's mission-oriented activities
is felt in communities throughout the country. Environmental cleanup of
the 24,000 sites on federal facilities in the United States may ultimately
cost as much as $400 billion and will extend well into the next century.
Congress, realizing that external oversight of military activities was
essential to protect human health and the environment from further damage,
passed the 1992 Federal Facilities Compliance Act. This federal law directed
the USEPA to promulgate rules intended to force facilities like Wisconsin's
Badger Army Ammunition Plant to comply with existing waste disposal laws.
The proposed Military Munitions rule, however, falls far short of Congressional
intent and effectively exempts most military activities from compliance.
Unless challenged, many military activities, including open burning and
detonation of munitions, will remain unregulated. Open burning and detonation
constitutes an uncontrolled release of poisonous nitric oxide gases and
respirable metals-contaminated particles (lead, cadmium and chromium) which
are toxic to humans and bioaccumulative in the environment. Exposure to
dinitrotoluenes (a chemical found in propellants) in open burning emissions
place soldiers, workers and nearby residents at increased risk for liver,
kidney and breast cancers.
Moreover, virtually all response actions in the proposed Military Munitions
Rule are triggered by risk as defined by the military, compounding existing
health and environmental risks to the very communities we should be protecting.
Communities and tribes, particularly those that are not well organized,
will be placed at greatest risk as this rule denies them protection afforded
by regulatory compliance, denies a legal appeals process, denies comparable
access to information and denies participation in the decision-making process.
CSWAB, together with the national Military
Toxic Project network, plays a critical role in fighting for a strong
federal military munitions rule that will protect human health and the
environment by providing for the safe storage, handling, testing, and disposal
of conventional and chemicals munitions.
Industrial Operations at Badger Army Ammunition
Plant
The land required for Badger Ordnance Works was procured by the government
on March 1, 1942 and construction was started midyear in 1942. A letter
of intent was signed with Hercules Powder Company on November 10, 1941,
authorizing it to initiate surveys and design Wisconsin plant. The Hercules
Powder Company was selected because it had successfully completed the construction
of the Radford Ordnance Works near Radford, Virginia, and the Badger plant
was to be a duplicate of the smokeless facilities at Radford. The plant
was built by the Mason and Hanger Company of New York City.
BAAP production started in January 1943, and continued until September
1945, when the plant was placed on a standby status. During the operational
period, BAAP employed 7,500 people and manufactured 271 million pounds
of single and double base propellant.
On December 15, 1945, BAAP was declared surplus by the U.S. Government.
In October 1946, the rocket facilities were withdrawn from surplus and
placed in standby status. From 1945 to 1950, various portions of BAAP were
in surplus, standby, and caretaker status and maintained by a small force
of government employees. Over 4,189 acres were disposed of during this
time, of which 2.2 acres went to the Kingston Cemetery Association; 2,264
to the Farm Credit Administration; and 1,922 to the War Assets Administration,
bringing the total acreage available for BAAP operations to 6,380 acres.
During the early 1950s as a result of the plant reactivation for the
Korean conflict, 1,173 acres were reacquired, bringing the total acreage
to 7,553 acres. Rehabilitation of BAAP by the Fegles Construction Company
was completed in 1955 and the Liberty Powder Defense Corporation was contracted
to operate BAAP. Through merger, the company today is known as the Olin
Corporation. Total production during this period (1951 to 1957) was approximately
286 million pounds of single and double base propellant and employment
peaked at 5,022 employees.
On March 1, 1958, BAAP was placed in inactive status. During this period,
the land directly across from the main entrance on Route 12 was declared
surplus and the acreage of BAAP was reduced to 7,417 acres. The plant was
reactivated effective December 23, 1965, with rehabilitation by Olin Corporation
and various subcontractors. The propellants manufactured included ball
propellant, smokeless propellant, and rocket propellant. Total production
for this period was approximately 445 million pounds of single and double
base propellant including 95 million pounds of ball propellant; 64 million
pounds of rocket propellant; and 282 million pounds of smokeless powder.
The plant at peak of production employed 5,390 people during this period.
On March 24, 1975, the Department of Defense ordered production operations
at BAAP to cease upon completion of current orders and placed the installation
in a standby status. This was the third such closure in the 50-year history
of BAAP. Decontamination of facilities to the XXX condition was accomplished
by the operating contractor, Olin Corporation, immediately upon completion
of production operations and was completed in March 1977.
Environmental Regulations
The U.S. Army and Olin Corporation have been jointly issued a RCRA Permit
by the U.S. EPA and the Wisconsin Department of Natural Resources (WDNR).
The State portion allows the facility to store up to 10,000 gallons of
hazardous waste in containers at the facility.
At the time of the permit issuance, the State of Wisconsin had not received
authority to administer the Hazardous and Solid Waste Amendments (HSWA)
to the Solid Waste Disposal Act. HSWA provide authority to U.S. EPA to
establish additional permitting requirements for hazardous waste management
facilities beyond the scope of existing regulations, if necessary to protect
human health and the environment. The State has been subsequently authorized
to administer individual provisions of HSWA. However, because the State
had not received authorization to address the HSWA requirements by the
date on which the RCRA Permit was originally issued to the U.S. Army (as
owner) and Olin Corporation (as operator), the U.S. EPA issued its own
permit, jointly with the State permit, addressing the HSWA requirements.
The conditions contained in both the State permit and the Federal permit
constituted the RCRA Permit.
The Federal permit required the permittees to institute an Interim Measure
(IM) to remediate contaminated groundwater at the PBG, and to begin an
investigation of 11 areas at the facility. To date, the RCRA Facility Investigation
(RFI) and the Corrective Measures Study (CMS) have been completed. The
IM, installed to remediate groundwater at the PBG, has been found through
additional investigation to be inadequate. This SB addresses the additional
action to be taken at the PBG which is designed to intercept the plume
of contaminated groundwater emanating from the PBG at the facility boundary.
In April 1993, the RI was completed for Badger. It identified the types,
concentrations, and locations of contamination at the installation. The
Feasibility Study (FS), completed in August 1994, looked at the possible
ways to treat the contamination identified in the RI and recommended remedies
for each site. The regulators agreed with the Army's recommendations for
remedies. These have been incorporated into the In-Field Conditions Report
modifications of June 1995 and the RCRA permit modification of January
6, 1996, the equivalent of a CERCLA Record of Decision (ROD).
Base Closure
On November 6, 1997, Badger Army Ammunition Plant, along with four other
inactive plants nationwide, was recommended for closure by the U.S. Army
Industrial Operations Command (IOC) based in Rock Island, Illinois. The
Army is preparing preliminary reports about the plant for submission to
the Secretary of Defense of the Army, taking the Badger plant one step
closer to actual closure.
In addition to the Badger plant, a recent assessment of peacetime and
replenishment requirements also identified the Indiana, a portion of Kansas,
Sunflower, and Volunteer Army Ammunition Plants to be excessed because
they are no longer needed for current or future production. The IOC reports
it will retain only 6 of its 14 inactive ammunition plants. The Command
will retain Louisiana, Mississippi, Riverbank, and Scranton Army Ammunition
Plants for its replenishment mission. In addition, the Command will continue
to use a portion of Ohio's Ravenna plant for storage and transfer approximately
75% of the plant to the National Guard Bureau; a portion of the Twin Cities
Army Ammunition Plant will also be retained for production and a portion
will be transferred to the National Guard and Army Reserve.
The announcement to excess Badger comes on the heels of a recently released
GAO report which also recommended Badger for closure. Of the 14 inactive
ammunition plants across the country, Badger continues to be the most expensive
to maintain, costing in excess of $5 million in FY 96 alone. By comparison,
the majority of the Army's ammunition plants cost less than $1 million
per year for operations and maintenance costs.
Biological Resources
A 1993 Biological Inventory of Sauk County's Badger Army Ammunition Plant
identified 16 remnants of natural communities including prairie, oak savanna,
dry forest, southern hardwood swamp, pine relict, acid bedrock glade, and
sandy meadow. 598 plant species were identified including 10 rare species.
47 species of birds were observed on the 7,354 acres site including a large
number of grasslands birds of special concern in Wisconsin. 25 species
of butterflies, 137 aquatic insects including 6 new county records and
the range extension of a boreal species, 15 mammals, and 16 herptiles were
identified on the Badger plant property.
The Badger biological inventory was the result of a nationwide agreement
between the Nature Conservancy and the Department of Defense. The Conservancy's
work was financed by a $45,000 allocation from the federal Legacy Resource
Management Program and was designed to promote the management and restoration
of biological and cultural resources of Defense Department lands.
Many of the species identified at the Badger plant are found in places
with such unlikely names as the Rocket Area, the Magazine area, the Acid
area, the Propellant Burning grounds, the nitroglycerine pond and the Cannon
range. Most of these plant and animal species occupied the prairie long
before the Badger plant was built in 1942.
A major discovery of the survey was the federally threatened prairie
bush clover. The bush clover and purple milkweed, Wisconsin endangered
species, and at least six threatened species including the slender bush
clover, the drooping sedge, the wild quinine and round-stemmed false foxglove
were found at Badger.
Not surprisingly, most of the nesting birds were found in areas that
are lightly grazed and see very little human activity. The diversity and
variety of ponds within the plant - including old farm ponds and glacial
remnant kettle ponds - support aquatic diversity 'never found before' in
Sauk County. Among the species found, a boreal aquatic beetle previously
found in only four northern counties.
Unfortunately, the purpose of the inventory was not to develop a management
plan but simply to identify the natural resources within the facility.
Without a management and preservation plan, the future of these natural
resources remains uncertain.
Bird Inventories
Amid the hundreds of abandoned production buildings at the silent Badger
Army Ammunition Plant (BAAP), singing in tall bending grasses, and nestled
in pastures dotted with grazing cattle, scientists have found a rich variety
of grassland birds and habitat that may play a critical role in wildlife
conservation and efforts to protect the Nation's migratory birds.
Preliminary results of a recent volunteer biological inventory, coordinated
by the Aldo Leopold Chapter of the Society for Conservation Biology, found
28 species of birds, plants and mammals of conservation concern at BAAP.
Among the most remarkable results were the bird surveys. Of the migratory
birds undergoing the most serious declines, grassland birds have undergone
many of the steepest declines, those are exactly the birds found to be
particularly abundant at Badger.
Throughout the United States, many migratory birds are undergoing serious
declines in their numbers. Birds using grasslands have declined more than
birds using either forest or scrub habitats. In fact, two-thirds of the
species of American grassland birds are declining.
The 1998 spring and summer surveys at BAAP found 16 species of birds
of conservation concern at BAAP. Of these 16 species, 15 are listed by
the State of Wisconsin as being Endangered (Peregrine Falcon), Threatened
(Henslow's Sparrow and Osprey), or Special Concern (Bobolink, Grasshopper
Sparrow, Red-headed Woodpecker, Field Sparrow, Eastern Meadowlark, Vesper
Sparrow, Western Kingbird, Western Meadowlark, Upland Sandpiper, Cooper's
Hawk, Dickcissel and Orchard Oriole.) One Watch List species, Clay-colored
Sparrow, was also found at BAAP.
Although biologists have found grassland birds among the scattered inactive
buildings, poles, and pipelines, they believe the potential for improving
species numbers and habitat could be markedly improved by the removal of
buildings.
Some birds, such as Upland Sandpiper, require more acreage than other
species. Consequently, building removal would benefit species requiring
larger area requirements and yet not likely harm species with small area
requirements. Furthermore, expanding existing grasslands might attract
birds with even larger needs, such as Northern Harriers, and Short-Eared
Owls, that are now missing from BAAP.
Grassland birds of conservation concern were found throughout much of
BAAP. In particular, all of these grassland birds were found in the western
one-third of the plant, the area with the greatest concentration of buildings.
The grazed areas in the western and central portions of the plant had more
grassland birds than did the areas the Army manages for wildlife adjacent
to Devil's Lake State Park or those under row-crop agriculture.
Another factor in the apparent success of bird species at BAAP is the
remarkable size of this property. Badger's 7,354 acres provides a variety
of habitats which in turn have attracted a wide range of species. Some
grassland birds, such as Upland Sandpiper, require short grass habitat.
Others, such as Bobolink and Henslow's Sparrow, require habitat with taller
grasses. Sufficient acreage for both short and tall grass habitat, providing
an environment with such a rich variety of species, is found in few places
in the Midwest simply because most other properties are too small in this
regard.
Maps, using a Geographic Information System (GIS), are being prepared
of the locations of the various plants, animals, and other organisms at
BAAP. The work on the maps began in October and given the importance of
the bird data, they were mapped first. A final analysis of the inventory
data is forthcoming.
Clearly, BAAP is critically important in maintaining, and possibly recovering,
some of the biological richness of Sauk County's disappearing native grasslands.
BAAP plays a crucial role in protecting Sauk County's natural heritage.
That role can change, for better or worse, as BAAP's future is decided.
Ho-Chunk Nation
Through the Bureau of Indian Affairs, Ho-Chunk Nation has made a formal
request to the General Services Administration (GSA) that approximately
3050 acres of property at the Badger Army Ammunition Plant transferred
in trust for the benefit of the Nation. The BAAP land has very important
historic and cultural significance to the Ho-Chunk people. The land lies
within the heart of Ho-Chunk's aboriginal territory, including villages
located within present-day Sauk County, and in particular, along the Wisconsin
River, where the Badger Army Ammunition Plant is located.
The Nation's primary interests are: (1) the protection of the cultural,
historic, archeological and natural resources located on the property,
(2) the restoration of prairie, native plants and animals, (3) the restoration,
remediation and continued protection of the environment, both the human
environment and the natural ecological environment. The preservation of
the history of the Ho-Chunk Nation and successor communities of the great
Sauk Prairie Land is fundamentally important. It preserves the past while
preparing the future.
Land is permanent and stable, a source of spiritual origins and sustaining
belief. Land is an important social institution, one intimately connected
to the environment, resource management, heritage preservation and economic
development. Through community operation and integrated land use planning,
it is possible to preserve, conserve and protect the Natural Resources
of this State. It is possible through a collaborative effort, joint support
and mutual assistance to restore the Sauk Prairie. The efforts of community,
farmers, environmentalists, sports-persons, conservation groups, historians
and local and tribal government, the restoration, remediation and protection
of the environment, history, and cultural resources can be achieved.
The Ho-Chunk Nation's goals and objectives are consistent with the uses
envisioned at the former Badger Army Ammunition Plant. The goals of this
community are achieved with the involvement, cooperation and resources
of all interested parties. The land use is the key to this equation. Ho-Chunk,
like the voices of the public and WDNR, has stated that its desired use
and objectives are to aid in cleaning-up the environment, ensuring a clean
green space for people and wildlife. Eco-tourism, restoration of prairie,
habitat and wildlife, and the preservation and protection of traditional
cultural properties are invaluable to the history of this land and its
people. The protection of and preservation of earthwork, mounds, cultural
sites, including the re-establishing native plant and animals like Bison,
as a native species to the prairie, are essential to the revitalization
of Ho-Chunk traditional practices and culture. These desired objectives
are consistent with the prairie restoration desired by the area people.
It does not conflict with, but compliments the land use practices of the
Wisconsin Department of Natural Resources and surrounding neighbors.
The Ho-Chunk Nation is committed to protect and enhance natural resources.
The Ho-Chunk Nation has undertaken a prairie restoration and bison project
to enhance the traditional beliefs of the Tribe. The Nation operates resource
management programs to "acquire, manage, develop and enhance tribal resources"
including "land, water, fish and wildlife, range, forestry, irrigation,
and other programs designed to manage, develop and enhance tribal resources."
The BAAP facility is located on lands that historically were prairie and
woodlands. Since the 1960's, portions of the BAAP lands have been the subjects
of wildlife restoration projects. The Nation wishes to expand its prairie
and bison projects. The Nation's proposed use of the property is consistent
with the interests expressed by many members of the local communities and
environmental groups, and would benefit those communities. For all of these
reasons, the Ho-Chunk Nation has requested that the Department of the Interior
seek to acquire the BAAP in trust for the benefit of the Nation.
State and Federal Agencies
The Wisconsin Department of Natural Resources (DNR) has expressed interest
in owning and managing all of Badger's 7,354 acres. The DNR has forwarded
its request to the Wisconsin Department of Administration (DOA). If the
DOA agrees with the DNR's plan, the request will go to the Governor for
his approval. However, these steps don't guarantee DNR ownership of Badger.
Already at a federal level, the U.S. Department of Agriculture has requested
the use of land for the Dairy Forage Research Center, and the Department
of the Interior has requested the use of land for the Ho-Chunk Nation.
Under the General Services Administration (GSA) process for disposal of
excess federal properties, these two federal agencies will have first choice
of land, followed by the state. All interested agencies will have to prove
they have a use for the land.
Under the Federal Lands to Parks program, the DNR is eligible for transfer
of these lands at no cost if they will be used for public park and recreation
purposes. Under this program, properties must be used for public park and
recreation purposes in perpetuity, including protecting and providing pubic
access to natural and historic areas such as lakes, rivers, forests, wetlands,
open space, shorelines, and historic buildings.
According to Wisconsin law, state aids will be paid to local government
with respect to these lands. These state aids will be roughly equivalent
to property taxes that would be levied on land acquired by the DNR if the
land was subject to property taxation. Revenue from the sale, recycling,
and salvage of surplus equipment and other accounts at Badger will help
pay for environmental cleanup, estimated to cost as much as $250 million.
The DNR envisions managing the property as a multi-use facility primarily
for ecological restoration and maintenance of prairie and oak savanna.
Proposed uses include hiking, biking, cross-country skiing, nature appreciation,
hunting, educational opportunities, cultural awareness opportunities, and
more. Contiguous wildlife conservation lands at Badger would function as
a protected buffer area for Devil's Lake State Park, provide connectivity
of habitats between Devil's Lake State Park, the Baraboo Hills, and the
Wisconsin River, and reduce habitat fragmentation.
Citizens for Safe Water Around Badger
E12629 Weigand’s Bay South
Merrimac, WI 53561
(608) 643-3124 phone
(608) 643-0005 fax
info@cswab.org
www.cswab.org