174

 

 

1 Division of Administrative Hearings

2 Department of Administration, State of Florida

3

SUGAR CANE GROWERS COOPERATIVE )

4 of FLORIDA; ROTH FARMS, INC.; and )

WEDGWORTH FARMS, Inc., )

5 Petitioners )

V ) DOAH Case

6 SOUTH FLORIDA WATER MANAGEMENT ) No. 92-3038

DISTRICT, an agency of the State )

7 of Florida; et al., )

Respondents. )

8

FLORIDA SUGAR CANE LEAGUE, INC.; )

9 UNITED STATES SUGAR CORPORATION; )

and NEW HOPE SOUTH, INC., )

10 Petitioners, )

V ) DOAH Case

11 SOUTH FLORIDA WATER MANAGEMENT ) No. 92-3039

DISTRICT, an agency of the State )

12 of Florida; et al., )

Respondents. )

13

FLORIDA FRUIT and VEGETABLE )

14 ASSOCIATION; LEWIS POPE FARMS; )

W. E. SCHLECHTER & SONS, INC., )

15 and HUNDLEY FARMS, INC., )

Petitioners, )

16 V ) DOAH Case

SOUTH FLORIDA WATER MANAGEMENT ) No. 92-3040

17 DISTRICT, an agency of the State )

of Florida; et al., )

18 Respondents. )

19

Deposition of Fritz Stein

20 VOLUME II

21 Taken before Elaine V. Williams,

Professional Reporter and Notary Public in and for

22 the State of Florida at large, pursuant to notice of

taking deposition filed by the Department of

23 Environmental Regulation in the above cause.

- - -

24 Wednesday, March 10, 1993

3301 Gun Club Road

25 West Palm Beach, Florida 33401

9:00 a.m. - 4:10 p.m.

 

175

 

 

1 APPEARANCES:

2

On behalf of the Petitioners

3 Hopping, Boyd, Green & Sams, P.A.

123 S. Calhoon St.

4 Tallahassee, Florida 32314

By: WILLIAM GREEN, ESQUIRE

5

On behalf of the Respondent SFWMD:

6 South Florida Water Management District

3301 Gun Club Road

7 West Palm Beach, Florida 33416-4680

By: No appearance

8

On behalf of the Intervenor, United States of America:

9 Department of Justice

155 South Miami Avenue, Suite 627

10 Miami, Florida 33130-1693

BY: KATHY A. STARK, ESQUIRE

11

On behalf of the State of Florida:

12 Department of Environmental Regulation

Twin Towers Office Building

13 2600 Blair Stone Road

Tallahassee, Florida 32399-2400

14 By: LEE M. KILLINGER, ESQUIRE

15 Also Present: Jeffrey J. Ward

Sugar Cane Growers Cooperative

16

- - -

 

176

 

 

1 - - -

2 I N D E X

3 - - -

4

5 WITNESS: DIRECT CROSS REDIRECT RECROSS

6 Fritz Stein

7

8

9 BY MR. KILLINGER: 178 (continued) 346

10 BY MS. STARK: 305

11 BY MR. GREEN: 346

12

13

 

177

 

 

1 - - -

2 E X H I B I T S

- - -

3

NUMBER PAGE NO. DESCRIPTION

4 EXB. NO. 10 180 Fertilizer purchases

EXB. NO. 11 187 11/10/83 memo to Tschinkel

5 EXB. NO. 12 195 11/3/87 letter to Finley, etc.

13 201 Wedgworth statement to Board

6 14 211 9/1/92 letter to Reckhow, etc.

Re: gifts

7 15 224 7/6/92 letter to Wedgworth,

Re: Bion Technologies

8 16 233 3/18/88 memo to Graydon,

Re: BMP pump criteria

9 17 236 Draft position paper

18 238 Agenda, Re: CH2MHill meeting

10 19 245 Stein comments, Re: Farm Credit

20 258 2/6/91 letter to Chiles

11 21 259 Stein comments, Re: SWIM plan

22 264 3/7/91 letter to Gainesville Sun

12 23 276 8/4/91 letter to congressmen

24 283 12/31/91 letter to Chiles

13 25 296 open letter, Re: Everglades

26 326 Surface Water Permit

14 27 334 5/8/87 letter to Fearington,

Re: Recommended appointments

 

178

 

 

1 P R O C E E D I N G S

2 - - -

3 Thereupon,

4 Fritz Stein,

5 being by the undersigned Notary Public previously duly

6 sworn, was examined and testified as follows:

7 THE WITNESS: I do.

8 CONTINUED DIRECT (Fritz Stein)

9 BY MR. KILLINGER:

10 Q. Yesterday I asked you a fair number of

11 questions and we discussed a lot about farming

12 practices as you know them in the agricultural area,

13 and a lot of your answers were stated from your

14 understanding about what you do on your land, and I

15 gathered from that that you are not necessarily

16 familiar with what other producers do. Is that a

17 fair statement?

18 A. That's a fair statement.

19 Q. How much do you feel like you know about

20 agricultural practices that other farmers in the

21 agricultural area use? Do you think you are familiar

22 with them? Do you think they are the same as yours?

23 A. No, I know they are not the same as mine at

24 present; a year ago, say. I imagine they are going

25 to be close to mine now.

 

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1 Q. You think they are changing their practices

2 towards yours?

3 A. I think they are; not because mine are

4 better, I think that's just the way the program's

5 heading.

6 Q. What do you think, generally speaking

7 again, that they do differently or have been doing

8 differently; that they are changing so that they are

9 more similar to your method of operation?

10 A. I don't know these things definitely, but I

11 feel that most of them are going to go to banding

12 like I have been doing.

13 Q. Do you think most of them do banding now?

14 A. They may this year.

15 Q. Did they last year?

16 A. Probably not as many last year as there are

17 this year.

18 Q. Do you think that the change is due to BMP

19 requirements?

20 A. That's one reason, yes; BMP requirements.

21 Q. Do you know at what level cane growers

22 other than yourself generally tend to maintain their

23 water level in their fields during the crop?

24 A. No, I don't.

25 Q. You spoke some yesterday about putting

 

180

 

 

1 fertilizer on when you first started the crop. How

2 much fertilizer do you generally use?

3 A. Me?

4 Q. Yes.

5 A. I put about 500 pounds in my plant crop.

6 Q. Is that per acre?

7 A. Per acre.

8 Q. What kind of fertilizer is that?

9 A. If I can. You have some records there. I

10 would rather refer to them.

11 MR. KILLINGER: We might as well mark this.

12 This will be Exhibit 10.

13 (The document was marked

14 Exb. No. 10.)

15 BY MR. KILLINGER:

16 Q. All right I have just handed you what I

17 have marked as Exhibit 10. Do you recognize that?

18 A. Yes.

19 Q. What is it, please?

20 A. It is statements and invoices on fertilizer

21 purchased from Wedgworth, Incorporated.

22 Q. Were these documents produced by you in

23 connection with this deposition?

24 A. Yes.

25 Q. What do these, at least the first portion

 

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1 of documents, show?

2 A. This shows the type fertilizer I purchased

3 and used on my farm.

4 Q. Okay. And on certain invoices, and we need

5 to specify which ones, there are indications of the

6 contents of the fertilizer; is that correct?

7 A. Yes.

8 Q. Do you normally use the same kind of

9 fertilizer on all of your fields?

10 A. Yes.

11 Q. What different types of soil preparation do

12 you apply?

13 A. My plant crop -- I use -- if you are

14 looking at one, 0-7-73, that's my plant fertilizer

15 mix.

16 Q. And what is that made up of? Do you know?

17 A. The ingredients? The seven there would be

18 triple super phosphate, the 37 would be muriate of

19 potash, the rest are minor elements.

20 Q. Okay. So the 0-7-37 is the chemical makeup

21 of the primary components?

22 A. Right. Major components.

23 Q. Why is the zero in the beginning of it?

24 A. We don't use nitrogen in the Everglades

25 Agricultural Area.

 

182

 

 

1 Q. And in fertilizer terminology usually the

2 first of the three numbers is for nitrogen?

3 A. Right. N, P and K. Nitrogen, phosphorus

4 and potash.

5 Q. Okay.

6 A. I apply that at the rate of 500 pounds per

7 acre. We do this -- this is applied one time every

8 six years. Only at the time I plant.

9 Q. All right.

10 A. The amount of phosphorus per acre that I

11 use would equate out to about two-and-a-half pounds

12 per acre on an annual basis.

13 Q. And that is on a plant crop?

14 A. That is on my plant crop.

15 Q. Okay. Do you use a different fertilizer

16 on --

17 A. Stubble?

18 Q. On stubble. Yes, sir.

19 A. I think the first ticket shows muriate

20 potash.

21 Q. Is that the second sheet in?

22 A. Second sheet, yes. Muriate potash, that's

23 a 0-0-60. I apply that at a rate of 350 pounds per

24 acre on my stubble.

25 Q. Why do you use different fertilizers for

 

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1 the stubble and plant crop?

2 A. Well, on my plant crop I try to get the

3 minor elements in the soil and from then on I just

4 use the muriate of potash because, in my experience,

5 I have been able to grow a decent crop with just that

6 mix.

7 MR. GREEN: Counsel, just for

8 clarification, my copy of Exhibit 10, on the

9 back few pages, appears to contain another

10 document besides. I just wanted to be sure that

11 everyone else had that and that you intended

12 that.

13 MR. KILLINGER: Yes, I was going to ask a

14 couple of questions about it. It came to us

15 that way, I believe. They don't seem to be

16 inherently connected.

17 MR. GREEN: Fine.

18 THE WITNESS: The exhibit's coming apart.

19 BY MR. KILLINGER:

20 Q. If you will turn down in the document, down

21 through to -- I guess we'll identify it by ticket

22 number. The bottom of the ticket indicates 22431.

23 It is fairly far back in.

24 MS. STARK: Is there a date on it?

 

184

 

 

1 BY MR. KILLINGER:

2 Q. There is a date of 9/11/91. 22431. It is

3 about in the middle of the invoices.

4 MR. GREEN: Where is the number?

5 THE WITNESS: At the bottom.

6 BY MR. KILLINGER:

7 Q. The date is up at the top, right beneath

8 the phone number.

9 A. 431?

10 Q. 431, yes, sir.

11 A. Uh-huh.

12 Q. Can you tell me what that -- I'm sorry.

13 I'll let counsel find it first.

14 MR. GREEN: I can see it here. Thank you.

15 Go ahead.

16 BY MR. KILLINGER:

17 Q. Can you tell me what that invoice is for?

18 A. That was soil sample that I assume a

19 salesman took and took to South Bay Growers.

20 Q. Okay. Why would a salesman take a soil

21 sample?

22 A. They normally do.

23 Q. Is that after they fertilize or before?

24 A. What is the date? 9/11? I don't know.

25 September '91. I don't know why they would be taking

 

185

 

 

1 one. Cane had been planted since the middle of

2 August. I don't know.

3 Q. Well, I believe you told me yesterday that

4 you don't normally --

5 A. Test.

6 Q. -- have your soil tested.

7 A. Uh-huh.

8 Q. Do you know why he would be taking a soil

9 sample at all?

10 A. No, I don't.

11 Q. Do you know why he would be charging you

12 for it?

13 A. Well, I guess he took it and maybe he and

14 my son might have talked about it. My son authorized

15 it. I don't know.

16 Q. Okay. But you are not sure?

17 A. The month doesn't make any sense because

18 that's after it's been planted and before I do any

19 stubble fertilization.

20 MR. GREEN: Just for clarification, the

21 date you have been talking about Mr. Killinger,

22 is the day of the invoice; is that correct?

23 MR. KILLINGER: That is correct, yes.

24 MR. GREEN: But we don't know what the day

25 of the sampling was from this, do we?

 

186

 

 

1 THE WITNESS: No, you don't.

2 MR. KILLINGER: My question was more to why

3 it was being tested, primarily.

4 MR. GREEN: Right.

5 BY MR. KILLINGER:

6 Q. There are several invoices in this exhibit

7 regarding that. There is another one farther back,

8 but it appears to be undated, so I just thought I

9 would pull a representative sample.

10 Okay. If you would, could you flip back to

11 the other document in this composite exhibit which we

12 just discussed --

13 MR. KILLINGER: Mr. Green, if you would

14 like me to pull this off and make it a separate

15 exhibit, I don't have any objection to it.

16 MR. GREEN: Doesn't matter to me.

17 MR. KILLINGER: I just have a couple

18 questions with about it.

19 MR. GREEN: Go ahead.

20 BY MR. KILLINGER:

21 Q. Can you tell me what this document is?

22 A. It is an application for a permit.

23 Q. Do you recognize it?

24 A. Yes.

25 Q. Okay. What kind of permit is it applying

 

187

 

 

1 for?

2 A. The Works of the District permit.

3 Q. Why do you apply for a Works of the

4 District permit?

5 A. This is a permit that we are required to

6 apply for now under the SWIM Plan.

7 Q. And do you have assistance with filing

8 these applications?

9 A. Assistance?

10 Q. Yes. It says prepared by Ed Barber and

11 Associates?

12 A. Yeah, Ed Barber.

13 Q. What do they do for you?

14 A. He is a consultant.

15 Q. That's all I have about that.

16 (The document was marked

17 Exb. No. 11.)

18 BY MR. KILLINGER:

19 Q. I would like to show you what I have just

20 marked as Exhibit 11 and ask you if you have ever

21 seen that document.

22 A. Yes, I attended this meeting. I hadn't

23 seen this document before.

24 Q. I'm sorry?

25 A. I attended this meeting, but I have never

 

188

 

 

1 seen this document before.

2 Q. What does the document describe?

3 A. A meeting with Governor Graham.

4 Q. Okay. If you look at paragraph 1, I

5 believe the remarks say there were two separate

6 meetings. Were you at one meeting or both meetings?

7 A. One meeting.

8 Q. Okay. Can you tell me approximately when

9 that meeting occurred?

10 A. In 1983, apparently; meeting November the

11 fourth.

12 Q. Can you tell me why it occurred?

13 A. We had asked for a meeting with the

14 governor.

15 Q. Okay. Who's "we"?

16 A. Kerstein, Wedgworth, Boy, myself. Supposed

17 to be Ed Duda instead of A. Duda.

18 Q. Supposed to be Ed Duda?

19 A. Yeah. And Joe Marginhiggert (phonetic) and

20 Jack Campbell from Homestead, I believe.

21 Q. Why did you ask for a meeting?

22 A. We had to -- SOE -- SOE program? Refresh

23 my memory.

24 Q. SOE program?

25 A. Uh-huh.

 

189

 

 

1 Q. I'm not sure I can tell you what the SOE

2 program is.

3 A. I can't either. Anyway, we had some

4 problems with press releases that the governor had

5 made about on-site containment.

6 Q. Okay. Let's discuss on-site containment

7 for a second. What is on site containment?

8 A. My interpretation of on-site containment is

9 containing your stormwater on site.

10 Q. Is that stormwater from your farm land?

11 A. Right.

12 Q. How is that done or how would that be done?

13 A. Well, you would have to set aside land to

14 contain it on.

15 Q. Essentially, create sort of a stormwater

16 holding pond?

17 A. Exactly.

18 Q. And you had to pump into that?

19 A. Exactly.

20 Q. What was the problem with the press

21 releases that the governor had been --

22 A. Well, the governor, in his press release

23 said that, you know, EAA growers can do it if I can

24 do it on my dairy. When we confronted him with this

25 issue, he said he just had some misinformation.

 

190

 

 

1 Q. What was the misinformation?

2 A. He does not have on site containment on his

3 dairy. He his stormwater run off his farm into a

4 roadside canal along US-27 into C-19 in the

5 Caloosahatchee River.

6 Q. Did he back off his statement?

7 A. No. Although he told us he just had bad

8 information, he never retracted his statement.

9 Q. He had bad information about what he had on

10 his on own dairy farm?

11 A. Exactly. He had bad information on what he

12 had on his own farm.

13 (Discussion held off the record.)

14 MR. KILLINGER: Back on the record.

15 BY MR. KILLINGER:

16 Q. Why was on-site containment being

17 discussed?

18 A. That was one of the options that had been

19 floated politically. It was the hot item.

20 Q. Okay.

21 A. In reality, it wasn't worth a damn.

22 Q. Why was it is an option that was being

23 floated? I mean, what was the problem it was

24 designed to address?

25 A. The runoff.

 

191

 

 

1 Q. Okay. Runoff to where?

2 A. Nutrient runoff into the Works of the

3 District.

4 Q. And it was a hot item back then?

5 A. At that time.

6 Q. This was 1983; correct?

7 A. Apparently, November of '83.

8 Q. Okay. Is that prior to any of the SWIM

9 planning process?

10 A. Yes.

11 Q. Is that prior to the federal lawsuit?

12 A. Yes.

13 Q. Do you recall who it was who was mostly

14 concerned about nutrient runoff?

15 A. No. Best of my recollection, DER and

16 possibly the governor.

17 Q. Do you know why they were concerned?

18 A. At that time, no. Oh, there it is. SOE:

19 Save our Everglades program.

20 Q. Do you know why they might have been

21 concerned about nutrients runoff?

22 MR. GREEN: Asked and answered. You just

23 asked him that.

24 MR. KILLINGER: I don't think I got an

25 answer. Maybe I missed it.

 

192

 

 

1 MR. GREEN: I think you did. You may want

2 to ask that it be read back.

3 MR. KILLINGER: Can you read it back,

4 please?

5 (Thereupon, a portion of the record

6 was read by the reporter.)

7 BY MR. KILLINGER:

8 Q. Is your answer then that they were

9 concerned because of the Save Our Everglades program?

10 A. I have no idea why that was an issue at

11 that time. It may have been because of Save Our

12 Everglades program.

13 Q. Okay. Do you know what the Save Our

14 Everglades program was all about?

15 A. I don't remember. I probably did in 1983

16 but today I couldn't tell you.

17 Q. Okay. Let's discuss on site detention a

18 little bit. I gather from your comments a few

19 moments ago that you weren't too thrilled with the

20 idea; is that correct?

21 A. That is correct.

22 Q. Why is that?

23 A. You're asking me, a private landowner, to

24 store water for the state at my expense when, in

25 fact, it is taking my property; takes land out of

 

193

 

 

1 production. It will not add to the water supply. In

2 fact, it will take away from the water supply.

3 Q. Why will it take away from the water

4 supply?

5 A. ET. Evapotranspiration.

6 Q. Which is?

7 A. Evaporation that takes moisture into the

8 air, and when you spread it out over a thin area --

9 if you spread an inch of water out over this table,

10 or you put the same amount of water in that cup, you

11 are going to have a whole lot less in that cup than

12 you are out here when you expose more area to the

13 air.

14 Q. ET is evapotranspiration. What is

15 transpiration?

16 A. It goes up into the air.

17 Q. If you look at the page 2 of the letter --

18 A. Apparently it is a memorandum from Pat

19 McCaffrey to Tschinkel.

20 Q. I'm sorry. Page 2 of the memorandum.

21 A. Uh-huh.

22 Q. In the first paragraph, the second sentence

23 indicates that, "EAA interests maintain there are no

24 such facilities on the Graham property and that such

25 facilities have been proven inappropriate for the

 

194

 

 

1 EAA." How were they proven inappropriate for the

2 EAA?

3 A. Costs.

4 Q. Was a study performed?

5 A. There was a study performed I think by

6 Hutcheon Engineers.

7 Q. Who commissioned that study?

8 A. I believe it was the Sugar Cane League.

9 Q. Do you recall when?

10 A. No. Prior to this date. Prior to November

11 4, 1983.

12 Q. Do you recall the grounds for the statement

13 that the facilities were proven inappropriate for the

14 EAA?

15 MR. GREEN: Asked and answered.

16 BY MR. KILLINGER:

17 Q. Is cost the only issue?

18 A. Mainly.

19 Q. Next-to-the-last paragraph of the

20 memorandum indicates that, "The EAA contingent

21 characterized the Holey Land/Rotenberger as "a battle

22 we have already lost and don't support, but aren't

23 interested in fighting anymore"; can you tell me what

24 the battle was about? The Holey Land and Rotenberger

25 tract?

 

195

 

 

1 A. It was a feeling by the EAA people that

2 Holey Land/Rotenberger should be on the table and

3 included in the Save Our Everglades situation.

4 Q. What should it be on the table and included

5 for?

6 A. Like something similar to STAs now as we

7 know them today.

8 Q. Was it the EAA growers contention that the

9 Holey Land and Rotenberger tract should be used to

10 treat the EAA runoff?

11 MR. GREEN: Object to the form.

12 THE WITNESS: It could be used to store the

13 runoff. There were modifications I think the

14 EAA group felt were feasible and should be

15 considered.

16 MR. KILLINGER: Okay. Thank you.

17 (The document was marked

18 Exb. No. 12.)

19 BY MR. KILLINGER:

20 Q. I'll hand you what I have just marked as

21 Exhibit 12 and ask you if you recognize that

22 document.

23 MR. GREEN: Just for the record, Exhibit 12

24 I think is more than one letter.

25 MR. KILLINGER: Yes, it is.

 

196

 

 

1 MR. GREEN: So I guess you're requesting

2 Mr. Stein review all those and see if he can

3 identify them.

4 MR. KILLINGER: Yes, I am.

5 MR. GREEN: Thank you.

6 THE WITNESS: Some of these I have seen. I

7 am looking at some for the first time, but those

8 I was copied on; I remember those.

9 BY MR. KILLINGER:

10 Q. Okay. Well, since it is a composite

11 exhibit and there are a number of them, why don't we

12 just go through and identify them from the top down,

13 and you can tell us whether you have seen them

14 before.

15 A. Okay. I have seen the first letter dated

16 November 3rd, 1987.

17 Q. Okay.

18 A. I have seen the letter dated December 23,

19 1987.

20 Q. Okay. Have you seen the second letter?

21 A. No.

22 Q. Is the second letter --

23 A. From Finley.

24 Q. -- from Finley to George Wedgworth, and

25 there is a stamp on it which says December 17, 1987

 

197

 

 

1 up in the right-hand corner.

2 A. Uh-huh.

3 Q. Have you seen that document?

4 A. No.

5 Q. Okay. The third document is a letter from

6 the Cooperative dated December 23.

7 A. Yes, I was copied on that letter.

8 Q. Okay.

9 Q. The fourth document is another letter from

10 the Cooperative to Mr. Finley dated December 23?

11 A. No, I hadn't seen that one.

12 Q. The fifth document is a memorandum from

13 Sugar Cane League.

14 A. From Ed Barber to Mike Finley dated

15 February the 3rd; first time I have seen it.

16 Q. Hang on just a second. Yes, it is dated

17 February 3rd. You are correct. I'm sorry.

18 MR. GREEN: It is from Ed Barber to the

19 Environmental Quality Committee.

20 THE WITNESS: Okay. It is a memorandum.

21 Okay.

22 BY MR. KILLINGER:

23 Q. Yes.

24 A. I'm sorry.

25 Q. The next document is a --

 

198

 

 

1 A. Dated February 4th, memorandum from Ed

2 Barber to the Environmental Quality Committee. I had

3 not seen that before.

4 Q. And the next document is a letter from the

5 Cooperative, dated June 6, 1989, to Mike Finley.

6 Have you seen that?

7 A. That's the first time I have seen it;

8 today.

9 Q. The next document is a letter dated April

10 19, 1989 from the Cooperative to Mike Finley.

11 A. Yes. That's the first I have seen it.

12 Q. Okay.

13 A. I had not seen a copy of the Sun-Sentinel

14 article.

15 Q. The June 13, 1989 Cooperative letter?

16 A. I had not seen it. Dated June 13.

17 Q. Yes. To the Florida Sugar Cane League?

18 A. No.

19 Q. And the last document is a Department of

20 the Interior letter, dated June 9, to Mr. Wedgworth.

21 Had you seen that?

22 A. No, I had not seen that.

23 Q. Okay. Let's flip back to the front page,

24 if you would, please. Can you tell me what the

25 Environmental Quality Committee of the Florida Sugar

 

199

 

 

1 Cane League is?

2 A. Their job was to deal with environmental

3 issues; both air, water and any others that might

4 come up.

5 Q. When was that committee established?

6 A. I don't have any idea. Probably in the

7 '60's. That's a guess.

8 Q. That's fine. Thank you. Do you know

9 whether the membership of the Environmental Quality

10 Committee has changed since it was organized?

11 A. Yes.

12 Q. Do you know who is on it now?

13 A. No.

14 Q. Do you know who how many members are on the

15 Environmental Quality Committee?

16 A. I don't recall.

17 Q. Can you give me some names of people who

18 have been on the EQC in the past?

19 A. I know George Wedgworth as chairman for

20 many years. This was called -- now each company made

21 recommendations for those committee assignments and I

22 just don't recall.

23 Q. Were you ever on it?

24 A. On the EQC? I don't think I was.

25 Q. Okay. This letter contains a number of

 

200

 

 

1 proposals for discussion with Everglades National

2 Park personnel; is that correct?

3 A. That's my interpretation.

4 Q. Okay. You were shown as having received a

5 copy of it. Did you have any hand in helping draft

6 the letter?

7 A. None at all.

8 Q. Do you have any idea what would have

9 prompted Mr. Wedgworth to send a letter such as this

10 to Mr. Finley?

11 A. I have no idea other than the way I

12 interpret the letter. It was putting out hands to

13 cooperate and to find common grounds for settlement

14 apparently.

15 Q. Was there an ongoing dialogue regarding the

16 issues that are listed in the letter?

17 A. Ongoing dialogue with --

18 Q. With National Park personnel?

19 A. I don't have any idea.

20 Q. You said it looks like it might have been

21 sort of extending a hand in settlement. Settling of

22 what issue?

23 A. Well, apparently Finley had made some

24 statements in front of this board, the board that I

25 served on over here, and I think that's probably what

 

201

 

 

1 prompted --

2 Q. Water Management District Board?

3 A. Yes.

4 Q. Do you know what those statements were?

5 A. No, I don't remember.

6 Q. Do you think it would be -- strike that.

7 Never mind. Okay. Thank you.

8 (The document was marked

9 Exb. No. 13.)

10 BY MR. KILLINGER:

11 Q. I'll hand you what I have marked as Exhibit

12 13 and ask you if you recognize that.

13 A. Yes.

14 Q. Can you tell me what it is?

15 A. Apparently this is a draft of a statement

16 that George Wedgworth was going to make to the

17 Governing Board of the South Florida Water Management

18 District.

19 Q. Did you produce this in the documents you

20 produced for this deposition?

21 A. Yes. This was produced.

22 Q. Can you tell me why you produced this

23 document?

24 MR. GREEN: Excuse me. You may answer, but

25 I think this is the one I was going to clarify.

 

202

 

 

1 When we went back through Mr. Stein's

2 documents, Mr. Ward reviewed the documents with

3 him, and I believe this was the document that he

4 uncovered that inadvertently was not produced

5 for Mr. Wedgworth's deposition and so he wanted

6 to be sure you got it. I could be wrong on

7 that.

8 MR. KILLINGER: I think you are, and I

9 think I can clear it up. Maybe this particular

10 document was not, but I think the final draft of

11 it was.

12 MR. GREEN: There was one document in that

13 category. If this isn't it, there is another

14 one.

15 THE WITNESS: Somehow this had gotten in my

16 files, but I heard him, when he did appear

17 before the board, make his comments.

18 BY MR. KILLINGER:

19 Q. That's fine. How long have you known

20 Mr. Wedgworth?

21 A. Oh, probably 50 years.

22 Q. Have you all served on as officers of the

23 Co-op for some time together?

24 A. Yes.

25 Q. Have you all worked closely together for a

 

203

 

 

1 number of years?

2 A. Yes.

3 Q. Have you read this statement recently?

4 A. No.

5 Q. Do you recall having it presented to you,

6 or reading it when it was reasonably promulgated,

7 either one?

8 A. I was furnished a copy, as all board

9 members were, the day he gave the presentation.

10 Q. If you flip to page 2, the last full

11 paragraph --

12 A. Second page?

13 Q. Yes, sir?

14 A. Uh-huh.

15 Q. The last sentence of that paragraph says

16 that you will also "express our recommendations

17 followed by a proposal to have the property owners

18 and farmers in the EAA share in the cost of funding

19 and implementing solutions."

20 A. Uh-huh.

21 Q. Do you know what he meant by that?

22 A. I don't know what he meant by it, but from

23 this comment, I would say that it says what it says;

24 that the EAA farmers would share in the cost of

25 funding and implementing solutions.

 

204

 

 

1 Q. Can you describe what the Co-op's position

2 on the EAA farmers assisting in funding and

3 implementing solutions is?

4 A. No. I think the Co-op's position is this:

5 When the problems are scientifically identified and

6 the solutions are scientifically determined, at that

7 point in time we will look at it and see what we can

8 do and what our equitable costs should be.

9 Q. And as of this date, is it your opinion

10 that the problems have not been scientifically

11 identified?

12 A. That is correct.

13 Q. Is it your contention that the solutions

14 have not been scientifically determined?

15 A. That is correct.

16 Q. Turn to page 3, please. The first full

17 sentence at the top states that, "Premature efforts

18 to force the Department of Environmental Regulation

19 to act on water quality violations in the WCAs before

20 technical solutions were found" and then it goes on.

21 Do you know what water quality violations were being

22 referred to?

23 A. No, I don't.

24 Q. If you could turn to page 4, please,

25 reading from the top down getting near the end of the

 

205

 

 

1 fourth line down, there is a reference to "The

2 primary purpose of the WCAs is for flood control and

3 water retention". I believe yesterday you made a

4 comment regarding the primary purpose of the WCAs

5 being for flood control and water retention. Is that

6 your understanding of the purpose of the WCAs?

7 A. Yes. Water retention. I used "supply" I

8 think; the best I can remember.

9 Q. Are there other purposes for WCAs in your

10 opinion?

11 A. It is multipurpose. It is multipurpose,

12 yes.

13 Q. Do you think that the flood control and

14 water retention purposes are paramount over the other

15 purposes?

16 A. Yes.

17 Q. What other purposes are there or were there

18 intended to be -- strike that whole thing.

19 A. I agree.

20 Q. What other purposes of the WCAs are there?

21 A. Can I ask you a question? I know I am the

22 guy being questioned. Can I ask you a question.

23 Q. You may ask me for clarification of your

24 question?

25 A. Would you give me a copy of House Document

 

206

 

 

1 643 and let me refer to it.

2 Q. If I have a copy of House Document 643.

3 A. One of you should have. That should be

4 your outline.

5 Q. I don't know if I have it with me.

6 A. Well, I prefer to have document 643 and the

7 language in 643.

8 Q. Okay. That's fine. The reference there is

9 a reference to House Document 643 at the top of page

10 4; is that correct?

11 A. Yes.

12 Q. I think I have a copy of it someplace in my

13 documents, but I don't know where I can drag it out

14 right now. Would the purposes include recreation?

15 A. I think that's one of them.

16 Q. Would it include wildlife habitat?

17 A. Wildlife benefits, I think, or something

18 like that.

19 Q. Right. In your opinion, how should the

20 varying uses be balanced for WCAs?

21 MR. GREEN: Object to the form.

22 You may answer.

23 THE WITNESS: Well, with my opinion and a

24 dollar, you got a dollar, for whatever that's

25 worth. I feel that it is clear in House

 

207

 

 

1 Document 643, as to the priorities; one being

2 flood control and water supply, those being the

3 top two priorities, the others are benefits that

4 hopefully will evolve from that.

5 BY MR. KILLINGER:

6 Q. Okay. So just let me take as an example.

7 If it were necessary for water retention to flood

8 WCA-2A, for instance, to a depth of three feet, would

9 you think that would be an acceptable use of 2A ?

10 MR. GREEN: Object to the form.

11 THE WITNESS: It would be what type use?

12 BY MR. KILLINGER:

13 Q. For water retention.

14 A. For water supply. That's one of the

15 purposes for Water Conservation Area 2, 3 and 1, as

16 far as that's concerned.

17 Q. Okay. If water supply or water retention

18 or flood control results in destruction of natural

19 habitat, do you find that to be a problem?

20 MR. GREEN: Object to the form.

21 THE WITNESS: I don't understand the

22 question. Could you phrase it in a different

23 way?

24 MR. KILLINGER: Yes, I think I can.

 

208

 

 

1 BY MR. KILLINGER:

2 Q. If management of the WCAs were driven by

3 flood control and water retention and those two

4 considerations had an adverse impact on the other

5 potential purposes of the WCAs, would that be an

6 acceptable management strategy in your opinion?

7 A. In my opinion that's the intent and purpose

8 of House Document 643 as the Congress intended.

9 Q. Okay. Down toward the bottom of the second

10 paragraph is a sentence that begins with "The packing

11 houses and sugar mills cannot survive with a loss of

12 their supply of vegetables or sugar cane".

13 Do you know how many acres of sugar cane it

14 takes to supply a sugar mill and keep it operating?

15 A. There is no way acres can -- it is not a

16 number of acres, it is tons of sugar cane.

17 Q. Okay. Do you know how many tons of sugar

18 cane?

19 A. No, I don't. I have no idea what is

20 involved in other companies.

21 Q. Are there certain economies of scale

22 involved in operating a sugar cane mill?

23 A. As in other businesses.

24 Q. But you don't know what tonnage it takes to

25 make it economical to operate a sugar cane mill?

 

209

 

 

1 A. No.

2 Q. If you flip to page 5 please, the first

3 full sentence in that paragraph at the top of the

4 page says that "Loss of productive land in the EAA is

5 not acceptable and it is questionable if it would

6 result in a solution". To whom is loss of productive

7 lands in the EAA not acceptable?

8 A. To all the food producers of that area.

9 Q. The next paragraph commences with the

10 sentence, "The implementation of the Interim Action

11 Plan (IAP) is an example of premature action which

12 has placed high hydraulic loads and additional

13 nutrient loads on the WCAs and disrupted the N-P

14 ratios in the Lake which contributed to the

15 production of blue-green algae blooms". Do you agree

16 with that statement?

17 A. To the best of my knowledge. But I'm not a

18 scientist, so --

19 Q. If you could please flip to page 8, the

20 second full paragraph, the last sentence of that

21 paragraph reads that, "We have to have time to

22 conduct research to learn more about not only removal

23 at low concentrations but also downstream effects of

24 these low levels". Have you got any opinion about

25 how much time is needed to conduct research that

 

210

 

 

1 would satisfy the agricultural industry about

2 problems and cause and effect in EAA?

3 MR. GREEN: Object to the form.

4 You may answer.

5 THE WITNESS: In time, I have no idea. But

6 I'm sure that when the cause and effect science

7 has been done, however long that might take, and

8 the people that keep throwing obstacles in front

9 of that process will allow it to be done and

10 whatever time that takes, I don't know how long

11 that might take.

12 BY MR. KILLINGER:

13 Q. What obstacles are being thrown in front of

14 that process?

15 A. Well, the refusal to let the scientists go

16 into the Water Conservation Area 1 and into the park.

17 That's two of them.

18 Q. Okay. Do you know whether a refusal --

19 whether permission was granted voluntarily to

20 research scientists, to go into the agricultural area

21 to conduct testing?

22 A. As far as I know.

23 Q. As far as you know, it was voluntarily

24 granted?

25 A. As far as I know. They are in there.

 

211

 

 

1 Q. Is the Co-op presently funding research in

2 the Everglades?

3 A. The Co-op presently funding research in the

4 Everglades? Yes, we are.

5 Q. With who?

6 A. Jere Northrop, Bion Tech or something like

7 that.

8 Q. Okay. Anybody else?

9 A. I think that's the only one that I can

10 think of at the moment.

11 Q. Is Jere Northrop with Bion Tech?

12 A. Yes. I think it is Bion Tech. Don't hold

13 me to that name exactly.

14 Q. Okay. I believe it is.

15 A. Is it?

16 Q. Is the Cooperative funding any research at

17 Duke University?

18 A. I think that's through the taxing agency.

19 EPD. Whatever taxes our growers pay our Co-op pays

20 to the EPD, I'm sure that's part of it.

21 (Discussion held off the record.)

22 (The document was marked

23 Exb. No. 14.)

24 BY MR. KILLINGER:

25 Q. Let me hand you what I have marked as

 

212

 

 

1 Exhibit 14 and ask you if you can identify that. Can

2 you identify what the composite exhibit is for me?

3 A. This is a letter dated September 1 to

4 Dr. Ken Reckhow, School of The Environment, Duke

5 University. "Enclosed is our check" -- this is a

6 letter from George Wedgworth to Dr. Reckhow --

7 "Enclosed is our check in the amount of $20,000 made

8 payable to the Duke Wetland Center representing an

9 unrestricted gift in support of Wetland Center's work

10 in the Everglades".

11 Q. Can you identify the next document for me,

12 please?

13 A. Letter dated June 2nd to Dr. Curtis

14 Richardson, Duke University Wetland Center, School of

15 Forestry and Environmental Sciences, 212 Biological

16 Sciences Building, Durham, North Carolina, and it is

17 a letter to him, "In accordance with our discussions

18 of your letter dated May 28, 1992, we are forwarding

19 our check for $20,000 to support a proposed graduate

20 student that you have selected for his studies of one

21 year".

22 Q. Can you identify the next document?

23 A. Next is a letter from Duke University, from

24 Curtis Richardson to George Wedgworth dated May 28,

25 1992. "It is my understanding that the Sugar Co-op

 

213

 

 

1 of Florida is interested in supporting a graduate

2 student in research in the Duke Wetland Center. To

3 expedite the appointment of this student and to

4 provide support for his salary and expenses, it will

5 be necessary to submit a check for $20,000 to the

6 Duke University Wetland Center, account number

7 391-9011. This direct payment will cover the

8 expenses for one year for the proposed graduate

9 student study. If you have any questions please give

10 me a call. Sincerely yours, Curtis Richardson."

11 Next is a copy of a check from Sugar Cane

12 Growers Co-Op in the amount of $20,000 made out to

13 Duke University Wetland Center.

14 Next is a cover page of a fax transmittal

15 from Duke School of the Environment to George

16 Wedgworth from C. J. Richardson. Comments: "Here is

17 the letter and mechanism to support the student,

18 original sent by mail".

19 Next is a letter from Sugar Cane Growers

20 Co-Op from George Wedgworth to Curtis Richardson

21 dated June 11, 1992. "In further clarification of my

22 letter to you on our grant forwarded June 2, 1992, it

23 is our intention that the funds are to be used for

24 the purposes outlined in your letter to me dated May

25 28, 1992, on an unrestricted basis".

 

214

 

 

1 Q. Does this exhibit indicate, in your

2 opinion, that the Cooperative has given at least some

3 money to Duke University School of the Environment

4 for Everglades related research?

5 A. It appears that way.

6 Q. Are you aware, prior to seeing this

7 exhibit, that the Cooperative had funded the

8 university?

9 A. As far as a graduate student is concerned,

10 yes.

11 Q. Okay. Did you vote on the funding as a

12 board and decide to --

13 A. I think it was probably the executive

14 committee.

15 MR. GREEN: Excuse me. Are you about at a

16 convenient breaking point?

17 MR. KILLINGER: Yes. Just hang on a

18 second.

19 BY MR. KILLINGER:

20 Q. Do you know of any other funding from the

21 Cooperative to the Duke University School of the

22 Environment in connection --

23 A. There may be other funding, but I'm not

24 sure of it.

25 Q. Okay. Are you formally involved in those

 

215

 

 

1 decisions?

2 A. Sometimes, if I am available.

3 Q. Okay. But it is entirely possible --

4 A. It could be.

5 Q. -- that monies been spent without your

6 knowledge?

7 MR. KILLINGER: Do you need to take a break

8 right now?

9 MR. GREEN: Yeah, we would like to.

10 MR. KILLINGER: Okay. We'll take a break.

11 (Thereupon, a recess was taken.)

12 BY MR. KILLINGER:

13 Q. Who at the Cooperative makes decisions

14 about funding of scientific research by the Co-op?

15 A. Generally Mr. Wedgworth.

16 Q. I'm sorry, I didn't hear you.

17 A. Mr. Wedgworth.

18 Q. Does he do that with any advice or

19 discussion with anyone else?

20 A. It could be the executive committee, and

21 from the executive committee to the board.

22 Q. I think I may have asked you before whether

23 you knew where the Co-op was funding any research in

24 the Everglades. Let me broaden that a little bit and

25 ask you if you know whether the Co-op has funded in

 

216

 

 

1 the past, or is funding now, any Everglades related

2 research?

3 A. Other than what we have talked about here

4 today, I can't think of any.

5 Q. Okay I just wanted to make sure I wasn't

6 narrow in my question. Do you know whether the

7 League has in the past, or is now, funding any

8 Everglades related research?

9 A. They have funded some in the past and what

10 they are doing today, I don't know.

11 Q. Do you know what they funded in the past?

12 A. I don't know if it directly related to the

13 Everglades. There were studies done in the past on

14 the lake, there were studies done on some farms.

15 Q. Do you know approximately when these

16 studies occurred?

17 A. In the '70's.

18 Q. Could I get you to go back to Exhibit 13 a

19 little bit, please. If you could turn to page 9,

20 paragraph number 1 states that, "Involvement with the

21 legislative process is necessary to get water

22 management back into the hands of the SFWMD's staff

23 and Board". Is it your opinion that water management

24 is not in the hands of the District staff and board?

25 MR. GREEN: Let me just object to the form

 

217

 

 

1 to the extent that, you know, it is fine for you

2 to ask Mr. Stein these questions, but you're

3 asking him questions based on a document that's

4 five years old that he didn't prepare, and, you

5 know, I just question whether that's going to be

6 really helpful to you, but you can certainly

7 pursue whatever line you think is --

8 MR. KILLINGER: Well, I recognize it is a

9 older document, and I recognize that he didn't

10 write it, but it is a presentation that was

11 given by the President of the Cooperative, and

12 it contains statements, so I am trying to find

13 out whether he agrees with those statements.

14 MR. GREEN: I understand. That's fine.

15 THE WITNESS: Yes, I agree with that

16 statement.

17 BY MR. KILLINGER:

18 Q. Okay. Why do you feel it is not in the

19 Water Management District staff and board's hands?

20 A. Today?

21 Q. Yes.

22 A. Because of the involvement of DER, which is

23 supervisory to the District. It is in the hands of

24 the governor and being influenced a great deal by the

25 Justice Department.

 

218

 

 

1 Q. Do you think that the --

2 A. That might not have been true in those

3 days, but that's true today.

4 Q. Do you think it is inappropriate for DER to

5 have a hand in water management?

6 A. Not at all. That's the way the legislature

7 designed it and I don't think they should dictate to

8 the board. I think they should give the board the

9 authority to do their job.

10 Q. Do you think at this point they are

11 dictating the job?

12 A. At this point in time that's my

13 observation.

14 Q. Okay. What is that observation based on?

15 A. Experience.

16 Q. Can you give me a specific example?

17 A. Not exactly, it is just the observations

18 that I have that apparently they are under the

19 influence of DER more so than they were when I was on

20 the board.

21 Q. Do you think that the board is making

22 decisions that it would not make were it not for the

23 influence of the DER?

24 A. They are making decisions now because of

25 DER positions.

 

219

 

 

1 Q. Can you give me an idea about what those

2 decisions are?

3 A. Well, the settlement agreement is one of

4 them.

5 Q. Do you think that DER influenced the

6 District into signing the settlement agreement?

7 A. The governor, Governor Chiles and DER and

8 the Justice Department.

9 Q. Do you think it is in appropriate for the

10 governor to be involved in water management?

11 MR. GREEN: Object to the form.

12 THE WITNESS: He's the one that makes the

13 appointments to the board. He has to be

14 involved in it. It was wrong to settle the

15 lawsuit because he gave up the state's right to

16 control its water issues.

17 BY MR. KILLINGER:

18 Q. Why do you feel that he gave up the state's

19 right to control water issues?

20 A. Because he did in fact.

21 Q. In what way?

22 A. In the settlement agreement. He gave it to

23 the federal judge. I see in today's paper too we

24 have got our prison back after ten years.

25 Q. I think that happened a day or two ago. I

 

220

 

 

1 think I read that.

2 A. Well, I was just reading the paper that

3 accumulated while I was gone, I guess.

4 Q. The second numbered paragraph on page 9

5 suggests that -- well, I'll just read it -- it says,

6 "Defer any action that will lead toward the taking of

7 private and/or public productive agricultural land

8 out of production until such time as all other

9 options have been exhausted" and then the sentence

10 goes on, and I won't read the rest of it because it

11 is an exhibit. Do you have any idea how long it

12 might be until all other options have been exhausted?

13 A. No, I don't because no one is willing to

14 let science prevail. They want politics to prevail.

15 Q. Do you have any idea about how long it

16 might take to conduct the required scientific

17 research?

18 A. No, I don't.

19 Q. The paragraph five reads that, "Best

20 management practices do not offer high expectations

21 to finding solutions". This was written in 1988. Do

22 you agree with that statement?

23 A. Yes.

24 Q. Today?

25 A. Yes.

 

221

 

 

1 Q. Why do you think that's an accurate

2 statement?

3 A. Some of the BMPs I have seen offered

4 standard practices in some cases.

5 Q. Such as?

6 A. Well, an example I use is, I band

7 fertilizer, some people broadcast.

8 Q. So are you saying that they don't offer

9 high expectations to finding solutions because they

10 are already being done?

11 A. Well, they are already being done in some

12 cases, right, but the results are going to be

13 minuscule I think by the change.

14 Q. On the following page numbered paragraph 10

15 states that "The Holey Land, Rotenberger Snail Farm,

16 Browns Farm tract land offered adequate sites for

17 nutrient removal research" and it says, "They are all

18 in the agricultural area". Is the Holey Land

19 privately owned?

20 A. Parcels in it. No, I don't think. The

21 Holey Land is owned by the state.

22 Q. Is the Rotenberger tract privately owned?

23 A. Partially owned by the state.

24 Q. Do you know how much of it is owned by the

25 state?

 

222

 

 

1 A. No.

2 Q. Do you know if the majority of it's owned

3 by the state?

4 A. Yes.

5 Q. Is Snail Farm privately owned?

6 A. Owned by U. S. Fish and Wildlife I think.

7 There are signs on it. I'll put it that way. And it

8 is outside of Water Conservation Area 1.

9 Q. Is the Browns Farm tract private land?

10 A. State land.

11 Q. State land. Do you think state lands

12 should be used for nutrient removal research?

13 A. Yes.

14 Q. Do you think state lands should be used

15 exclusively for nutrient removal research?

16 MR. GREEN: Object to the form.

17 THE WITNESS: That's one option.

18 BY MR. KILLINGER:

19 Q. Okay.

20 A. Depends how serious you are at solving the

21 problem.

22 Q. Do you know whether the agricultural

23 community has offered any of their land for nutrient

24 removal research?

25 A. I don't know of any that's been offered.

 

223

 

 

1 There are private lands being used for research.

2 Q. Do you know what private lands?

3 A. Well, we talked about that earlier. Bion

4 Tech I think is the one that we were talking about,

5 Sugar Cane Growers Co-Op.

6 Q. Do you know what Bion Tech is doing, what

7 research they are doing?

8 A. I am familiar with it, yeah.

9 Q. Can you tell me about it?

10 A. We are trying to reduce the phosphorus

11 levels in stormwater.

12 Q. Do you know what Bion Tech's process or

13 proposal is?

14 A. It is with the injection of iron sulfate or

15 ferrous sulfate and then it goes through an echo

16 reactor, which is a grassy area, and it is then

17 treated water. Injections of iron sulfate causes the

18 solid to flocculate and become more available to

19 microorganisms in the bioreactor or the grassy area

20 that the water flows through, making it more

21 available to them.

22 Q. Is the grassy area you referred to, the

23 bio, is that the echo reactor?

24 A. Yes, I think that's what it is called.

25 Q. Is that analogous to an STA?

 

224

 

 

1 A. Not to me, but --

2 Q. Okay. Can you tell me how you think they

3 differ?

4 A. Well, an STA is a great big area, and the

5 water going into it is not treated.

6 Q. And?

7 A. This is a small area. In our case, it is

8 probably 15, 16 acres.

9 Q. What is supposed to happen in the echo

10 reactor?

11 A. The microorganism take the solid -- the

12 phosphorus would come out in solid form -- and they

13 digest it, and then water coming out the other end is

14 a whole lot lower. But, the only problem we have

15 found is there is not enough phosphorus in the water

16 to take out.

17 (The document was marked

18 Exb. No. 15.)

19 BY MR. KILLINGER:

20 Q. Let me show you what I have marked as

21 Exhibit 15 and ask you if you recognize that. It is

22 a composite exhibit with several documents.

23 MR. GREEN: When you're asking Mr. Stein to

24 identify, are you asking him basically if he is

25 ever seen the document before?

 

225

 

 

1 MR. KILLINGER: Yes.

2 MR. GREEN: I mean, I think he feels

3 obliged to review them carefully, which is fine,

4 but if you don't have any specific questions, we

5 might save time if you're just asking him if

6 he's seen it.

7 MR. KILLINGER: Well, my specific question

8 will be whether the documents in this composite

9 exhibit reflect his understanding of the Bion

10 Technologies work proposal.

11 MR. GREEN: Well, I think he may need to

12 read them then.

13 MR. KILLINGER: I don't think I'll get any

14 more detailed than that.

15 MR. GREEN: Again, all I am doing is

16 suggesting, just to save time. If that

17 particular question -- it may be that he can

18 answer it without carefully reviewing it. On

19 the other hand, if it requires him to read the

20 documents, then of course he needs to do that.

21 MR. KILLINGER: I understand.

22 THE WITNESS: Okay.

23 BY MR. KILLINGER:

24 Q. If you look at the top document in Exhibit

25 Number 15, can you tell me what it appears to be?

 

226

 

 

1 A. A letter of agreement.

2 Q. Have you seen it before?

3 A. Yes.

4 Q. When did you see it?

5 A. I don't remember, but from the date on it,

6 probably a month or so prior to it.

7 Q. Is this letter of agreement essentially a

8 contract as you understand it with Bion Technologies?

9 A. Yes.

10 Q. Is it in force at this date?

11 A. Yes.

12 Q. Do you know how long the Bion Technologies

13 letter of agreement will continue?

14 A. I don't think it has a time. No, it

15 doesn't.

16 Q. I didn't see one. That is why I'm asking.

17 A. No, I don't think so.

18 Q. Do you think that the agreement will go on

19 as long as the work progresses?

20 A. Yes, I do.

21 Q. Do you have an understanding of how long it

22 might take Bion Technologies to complete their

23 proposed study?

24 A. No, I don't.

25 Q. Okay. I believe that after Exhibit B is

 

227

 

 

1 Exhibit A, so they may be out of order, but do you

2 recognize Exhibit A? It is labeled, up at the top,

3 as Exhibit A. I'm sorry. It is after the legal

4 descriptions which follow the letter of agreement. I

5 believe it is a letter dated May 12, 1992 from Jere

6 Northrop to Mr. Wedgworth.

7 A. Uh-huh.

8 Q. Have you seen that before?

9 A. Yes.

10 Q. When did you see that?

11 A. I guess sometime shortly after we received

12 it at the Co-op.

13 Q. Who showed it to you?

14 A. It was shown to me by George Wedgworth.

15 Q. Okay. Did you discuss it with him?

16 A. This?

17 Q. Yes.

18 A. We have discussed the whole process, yeah,

19 and we visited sites in Okeechobee County. This is a

20 evolutionary thing.

21 Q. The next document is dated May 12 and it

22 appears to be a proposal to apply Bion Technologies

23 Nutrients Management System to low phosphorus

24 agricultural runoff from sugar cane; is that correct?

25 A. Yes.

 

228

 

 

1 Q. The next document is a letter from John

2 Northrop at Bion Technologies to George Wedgworth

3 dated September 11, 1992; is that correct?

4 A. Yes.

5 Q. And immediately following that is an

6 invoice; is that accurate?

7 A. Yes.

8 Q. The next document appears to be a fax

9 transmitted document which appears to be another

10 letter of agreement; is that correct?

11 A. That was a proposed letter of agreement.

12 Q. The date on this fax copy is June 22, 1992.

13 A. 23, the one I am looking at.

14 Q. Yours says the 23rd.

15 A. Uh-huh.

16 Q. On the letterhead, or on the fax

17 transmittal?

18 A. Fax transmittal.

19 Q. Okay. That is correct. If you flip back

20 over to the beginning of the exhibit, the letter of

21 agreement there is dated July 6, 1992.

22 A. This is in effect now. The others were

23 proposed.

24 Q. The other was proposed after you signed the

25 July 6th one?

 

229

 

 

1 A. No. This was signed in July. The other

2 one is dated June 23.

3 Q. Oh, I'm sorry. I'm sorry. You're

4 absolutely right. The next document?

5 A. This is the binding document here on top.

6 Q. That was my question.

7 A. Yeah.

8 Q. The next document is dated June 26, '92.

9 It is a letter from Mr. Wedgworth to Mr. Northrop.

10 A. Uh-huh.

11 Q. Have you seen that document?

12 A. Yes.

13 Q. Just to shorten things up, have you seen

14 the remaining documents in the exhibit?

15 A. I may have scanned them before.

16 Q. When did you first get involved with Bion

17 Technologies? "You", meaning the Co-op. I'm sorry.

18 A. I had heard about them from the folks that

19 owned Dry Lake Dairy.

20 Q. Dry Lake Dairy?

21 A. Yeah. And in fact, I think they had --

22 George had seen some of the guys that run -- people

23 that owned that dairy, and they mentioned it to him

24 too. They had not yet had one set up on their dairy

25 at the time, but there was one on Ferrell Dairy, and

 

230

 

 

1 they were set up to treat barn wash water where you

2 have a very high concentrations of phosphorus and low

3 volumes of water. So we, George Wedgworth, Jeff Ward

4 and I, visited the Ferrell Dairy site along with Jere

5 Northrop, and what we observed there was very

6 interesting. If I were a dairyman, I would be really

7 looking at this. It's cost effective and does the

8 job. Excuse me.

9 Q. Do you recall when, approximately, this

10 was?

11 A. Sometime in the spring of '92.

12 Q. Okay. You indicate that it is used to

13 treat barn wash water?

14 A. At the Ferrell Dairy.

15 Q. At the Ferrell Dairy. And you indicate

16 that you visited some sites in Okeechobee County?

17 A. That's in Okeechobee County.

18 Q. Is that where Ferrell Dairy is?

19 A. Yes.

20 Q. Do you know if the technology is being used

21 to treat agricultural runoff?

22 A. That is agricultural runoff.

23 Q. Well, I'm sorry. Farm land runoff?

24 A. No. We didn't. But from what we have seen

25 here, we thought that there was a possibility that we

 

231

 

 

1 could glean something from it.

2 Q. Okay. Is that what the letter agreement is

3 trying to do; is to see if it is applicable to --

4 A. Exactly. See, the opposite thing is true

5 in our case. Large volumes of water.

6 Q. Low concentrations of phosphorous?

7 A. No phosphorus.

8 Q. Have you been discussing the progress of

9 the work with Bion Technologies personnel?

10 A. Yes. I was in a meeting. Jere Northrop

11 came in one day and said, "You know, we don't have

12 any phosphorus out there to take out. Can we find a

13 site that may have more phosphorus concentrations?"

14 And that's the last contact I have had with him.

15 Q. Do you know where the site is that he's

16 referring to?

17 A. Yes.

18 Q. Where is that?

19 A. You want to refer to Exhibit B.

20 Q. Sure.

21 A. Exhibit B, in Exhibit 15, page 4 of 5,

22 Glades Sugar Farm, Hillsboro.

23 Q. Okay. So the location where Bion

24 Technologies is doing their work is on the Glades

25 Sugar Farm?

 

232

 

 

1 A. Yes.

2 Q. What is it they are doing there?

3 A. What are they doing?

4 Q. Yes.

5 A. We are taking water out of the pump canal,

6 treating it with ferrous sulfate, and discharging it

7 into cells, bio reactors or whatever these proper

8 terms are, and it comes out on the other end, where

9 they are sampling the water. They are sampling the

10 water. I haven't seen any results, but they are

11 sampling the water at the discharge points on every

12 cell. There is a thin layer of water that goes

13 through these cells and discharges out.

14 Q. Do you know what kind of volumes they are

15 working with out there?

16 A. Not exactly, but it is in thousands of

17 gallons per minute.

18 Q. Are there any preliminary results?

19 A. I haven't seen them other than just orally

20 talking to Jere.

21 Q. What does he relate to you?

22 A. He says we can't find enough phosphorus to

23 take out of the water.

24 Q. Oh, okay. Does he give you any indication

25 about what "enough" phosphorus would be?

 

233

 

 

1 A. No, he has not given us any indication. He

2 just needs something to work with.

3 Q. Do you know how much phosphorus he's

4 looking for?

5 A. No. I think he is going to let science

6 take care of it, or the results take care of

7 themselves. It is very interesting, though. Water

8 Management District is watching that in Okeechobee

9 County very close.

10 (The document was marked

11 Exb. No. 16.)

12 BY MR. KILLINGER:

13 Q. I hand you what I have marked as Exhibit 16

14 and ask you if you recognize that document. Again,

15 it is a composite so there may be multiple pages of

16 the draft. "BEST MANAGEMENT PRACTICE PUMP OPERATION

17 CRITERIA". I believe they are all the same, though.

18 MR. GREEN: What is -- counsel, excuse me.

19 What is the question pending, counsel? I'm

20 sorry.

21 MR. KILLINGER: I am just asking if he's

22 seen the documents in the composite exhibit.

23 THE WITNESS: I am familiar with most of

24 the documents. There is one letter from Scott

25 Benyon to Woody. I had never seen a copy of

 

234

 

 

1 that letter before, although I knew that

2 question had been asked and raised.

3 BY MR. KILLINGER:

4 Q. Okay. The first page is a memo to the

5 Everglades Agricultural Area Water Management

6 Advisory Committee from Ron Graydon; is that correct?

7 A. Yes.

8 Q. Who is Ron Graydon?

9 A. He's the manager of nine or ten water

10 management districts in the subdistrict in the

11 Everglades Ag Area.

12 Q. Okay. Did you attend the meeting that's

13 referred to in this memo?

14 A. I'm sure I did.

15 Q. Do you recall what it was about?

16 A. This was an advisory group to 298 District.

17 Q. Okay. What was the advisory group advising

18 about?

19 A. Mainly advice on directions that the 298

20 should take; strategies and so forth.

21 Q. Why were BMPs being evaluated with regard

22 to the 298 District?

23 A. The BMPs were proposals being made by the

24 farm interests to the District; things that we could

25 live with possibly.

 

235

 

 

1 Q. Okay. Were the BMPs intended to control

2 phosphorus in agricultural runoff?

3 A. Secondly.

4 Q. Secondly. What was their primary --

5 A. Divert stormwater away from Lake

6 Okeechobee.

7 Q. Why was diversion of stormwater away from

8 Lake Okeechobee seen as important?

9 A. It is important for us to get a permit.

10 298 District pumps the urban areas as well as the

11 farm areas out there.

12 Q. Okay. Was stormwater runoff causing a

13 problem in Okeechobee?

14 A. A perceived problem.

15 Q. Okay. And what was that?

16 A. Phosphorus loadings.

17 Q. Have the 298s, in fact, diverted their

18 runoff, to your knowledge?

19 A. No.

20 Q. Does it still go into the lake?

21 A. Yes.

22 Q. Are you still advising the 298 District?

23 A. This committee was dissolved a couple years

24 ago.

25 Q. What were the committees conclusions?

 

236

 

 

1 A. We never got to the conclusions.

2 Q. Okay.

3 (The document was marked

4 Exb. No. 17.)

5 BY MR. KILLINGER:

6 Q. I'll give you an exhibit I have marked 17

7 and ask you if you recognize it, despite the fact

8 that some of the Xeroxing is not very clear.

9 A. What was the question on this?

10 Q. Have you seen this document before?

11 A. Not that I can remember.

12 Q. If you look at the front page, over to the

13 right-hand side of the "TO:" line; does that appear

14 to be your name?

15 A. That's my name. I was probably copied on

16 it, but that doesn't necessarily mean I have read it.

17 In 1989 my shirttail wasn't hitting my butt too

18 often. I was on the Water Management board.

19 Q. If you look at the first page of the actual

20 typing, down at the bottom of the last paragraph,

21 about five lines up, there is a sentence that reads,

22 "Generally accepted scientific evidence proves that

23 the Water Conservation Areas serve as a nutrient sink

24 greatly reducing nutrients concentrations long before

25 they reach the park boundaries". Do you agree with

 

237

 

 

1 that statement?

2 A. Yes.

3 Q. Can you point me to the generally accepted

4 scientific evidence which proves that?

5 A. Only thing I think, they are probably

6 referring to their readings; that the Water

7 Management District has this in their records.

8 Q. Water Management District records prove

9 that?

10 A. As far as I know.

11 Q. And if you flip to the top of the next

12 page, I believe portions of the same lines of that

13 paragraph are retyped, but it says, "It makes no

14 sense to set equally stringent standards for water

15 entering systems designed for flood control and water

16 conservation as for waters entering Everglades

17 National Park". I think this harkens back to the

18 discussion we had earlier today. Does that state

19 your opinion about what the water quality standards

20 should be?

21 A. I would agree with that opinion.

22 Q. Okay. The last sentence of the next

23 paragraph makes reference to the League's standing

24 ready to bring in recognized scientific experts who

25 will assist in identifying any problems. Do you know

 

238

 

 

1 who those League experts might be?

2 A. No, I don't.

3 Q. Do you know whether the League has, in

4 fact, brought in recognized experts?

5 A. No, I don't.

6 Q. Thank you.

7 A. Can you till me who sent this? It says

8 "TO:", and I can't read it. Have you got a better

9 copy?

10 Q. Mine doesn't, I don't think, read any

11 better than yours.

12 A. I see Jeff Ward sent it out.

13 Q. It looks to me, just speculating, that it

14 might be George Wedgworth. Just the same sort of

15 handwriting. It looks like it's got a curve to it.

16 A. Okay. It came from the Sugar Cane League

17 in Clewiston. I guess Jeff was at a meeting --

18 Q. I'm not sure who it went to originally.

19 A. -- and faxed it over. I'd say you're

20 right.

21 (The document was marked

22 Exb. No. 18.)

23 BY MR. KILLINGER:

24 Q. I give you what I have marked as Exhibit 18

25 and I would ask you to scan the document and let me

 

239

 

 

1 know if you're familiar with it.

2 A. No, I'm not familiar with this one.

3 Q. Okay.

4 MR. GREEN: Excuse me, counsel. Just for

5 the record, can you tell me where you got this

6 document? I mean, I just want to know whether

7 it came out of the production of Mr. Stein.

8 MR. KILLINGER: No, it did not come from

9 Mr. Stein's production.

10 MR. GREEN: Did it come from Mr. Wedgworth?

11 MR. KILLINGER: I believe it came from

12 Mr. Wedgworth's production, but I'm not certain.

13 MR. GREEN: I'm not either. I just want to

14 ask. It is not a big point. I just don't think

15 it did from either.

16 BY MR. KILLINGER:

17 Q. Can you tell me, Mr. Stein, who is on the

18 Environmental Quality Committee?

19 A. Today?

20 Q. Yes.

21 A. I have no idea.

22 Q. This says at the top, "Environmental

23 Quality Committee/EAA/WCA Management Committee". Is

24 that all one committee?

25 A. No, it is the League. I assume they have

 

240

 

 

1 added on two other areas of concern.

2 Q. This is a committee of the League?

3 A. The eastern Environmental Quality Committee

4 is.

5 Q. Do you know who was on it at the time

6 January of 1990?

7 A. No, I don't.

8 Q. Have you ever been a member of it?

9 A. No.

10 Q. If you could turn back into the document

11 with me, 11 or 12 pages in there is a page numbered 9

12 at the top. It reads "Goals and Requirements of the

13 WCA/ENP SWIM plan". The bottom bullet says "Set 0.03

14 mg/l for annual average (P) for each basin total

15 discharge to WCAs." And then, at the bottom, it has

16 "(From fig. 2 Draft Everglades SWIM Plan Volume I,

17 8/9/89)". Can you tell me what the point 0.03

18 milligrams per liter number refers to?

19 MR. GREEN: Well, counsel, let me just

20 object. More of a clarification.

21 MR. KILLINGER: Okay.

22 MR. GREEN: Have you asked Mr. Stein

23 whether he's ever seen this document?

24 BY MR. KILLINGER:

25 Q. Have you ever seen this document,

 

241

 

 

1 Mr. Stein?

2 A. No.

3 MR. KILLINGER: I was assuming he had not

4 seen it because he said he hadn't when he

5 scanned through it.

6 MR. GREEN: If he knows the answer, he's

7 welcome to answer it.

8 MR. KILLINGER: I'll rephrase it. It is

9 poorly stated anyway.

10 BY MR. KILLINGER:

11 Q. Do you recall what the annual average

12 phosphorus discharge level, or limit, was going to be

13 in the SWIM Plan draft that was dated 8/9/1989?

14 A. I think this is -- I really don't know -- I

15 think the 0.03 is the rainfall that was taken from a

16 gauge in Everglades National Park, and a gauge right

17 close to this building we are in here now.

18 Q. So you think the 0.03 was determined by

19 measuring rainfall?

20 A. I think that was the rainfall reading at

21 Everglades National Park and at the District

22 headquarters.

23 Q. Was the SWIM Plan of that draft date going

24 to use that as an annual average discharge level?

25 A. To the best of my knowledge. That never

 

242

 

 

1 came to be, so --

2 Q. Okay.

3 MR. GREEN: Excuse me. What was the

4 question? I'm sorry. Would you read back the

5 question again?

6 (Thereupon, a portion of the record

7 was read by the reporter.)

8 BY MR. KILLINGER:

9 Q. Are you familiar with the SWIM Plan which

10 was ultimately adopted by the Water Management

11 District?

12 A. No.

13 Q. Have you read it?

14 A. No.

15 Q. Have you discussed it with anyone?

16 A. Very vaguely.

17 Q. Okay. Who have you discussed it with?

18 A. Possibly Jeff Ward and Mr. Wedgworth.

19 Q. Do you recall the context of those

20 discussions, why you were discussing it?

21 A. What comes to mind, basically, and it is

22 not any great detail, but that it was based on the

23 settlement agreement.

24 Q. Do you know what the annual average

25 phosphorus discharge level, or limit for discharge to

 

243

 

 

1 the WCAs, is set to be in the present --

2 A. No.

3 Q. -- SWIM Plan?

4 A. No.

5 Q. If you'll continues to turn back in that

6 document to the page which reads number 14 at the

7 top, number three down there says, "Cost effective

8 WMAs on Non-ag property".

9 I recognize you haven't seen this before,

10 but if we assume that WMAs means water management

11 areas, can you tell me whether you have been involved

12 in any discussions regarding water management areas

13 on nonagricultural property?

14 A. I haven't been involved in any, huh-uh.

15 See, this is titled Florida Sugar Cane League SWIM

16 plan.

17 Q. I recognize that.

18 A. I had no input in there. In fact, I was

19 kind of a bastard child during this time.

20 Q. Why is that?

21 A. Because I served on the board over here.

22 I'd say that's probably the reason I never knew

23 anything about this document.

24 Q. That could be. Well, if we continue to

25 flip back, you'll find a sheet that has the number 19

 

244

 

 

1 at the top. That refers to cost effective WMAs on

2 non ag lands, and the next line down reads, "Use

3 public lands as WMAs (Nutrient Sinks)". Do you

4 recall whether that was a concept that was being

5 discussed by the League or the Co-op around the date

6 of this document, 1990?

7 A. I wasn't involved in any discussions.

8 Q. Okay. Just as an aside, number 4 on that

9 sheet indicates -- it says, "WCA-2A: Use existing

10 cattail-invaded and overdrained areas". Again

11 recognizing this is not a document you are familiar

12 with, do you know whether the League considers that

13 there are areas in WCA-2A that are cattail invaded?

14 A. I imagine they do. I do.

15 Q. Okay. Would those be the areas that we

16 discussed yesterday?

17 A. I'm sure.

18 MR. GREEN: Object to the form.

19 THE WITNESS: I'm sure it is.

20 BY MR. KILLINGER:

21 Q. We were discussing cattails in WCA-2A. I

22 believe you made reference to --

23 A. Yesterday.

24 Q. Yes.

25 A. Uh-huh.

 

245

 

 

1 Q. That's all I'm going to do with that one.

2 (The document was marked

3 Exb. No. 19.)

4 BY MR. KILLINGER:

5 Q. I'll show you what I have marked as Exhibit

6 19 and ask you if you have seen it.

7 A. Yes, I have seen it.

8 Q. Can you identify it for me?

9 A. Yes. This is a presentation that -- I was

10 on a panel that appeared before the Farm Credit

11 System, National Directors Conference, held in

12 Orlando, Florida, September 24, 1990.

13 Q. Okay. And is this, essentially, a

14 transcript of a presentation that you gave?

15 A. This is it in total.

16 Q. Okay.

17 A. You want to know the other people that were

18 on it?

19 Q. Yes.

20 A. You got a guy named Richard Harvey in your

21 organization, Woody Wodraska, Louis "Red" Larson,

22 Doyle O'Conner, Andy Rackley, Charlie Lee.

23 Q. Of the Audubon Society?

24 A. Yes. Myself. I think that's it.

25 Q. On the second page, about midway down in

 

246

 

 

1 that paragraph, is a line that says, "I am speaking

2 of those who would have government tell the farmer

3 when and on how much of his land to plant, when to

4 irrigate, what fertilizers and pesticides can be used

5 and in what quantities, even dictating what crops to

6 plant". Would it be safe to say that you object to

7 government regulation of farming?

8 MR. GREEN: Object to the form.

9 THE WITNESS: I told you, I think

10 yesterday, that farming is not an exact science

11 and probably the people furtherest away from the

12 ground are the regulators, and what they know

13 about fertilizers, pesticides and all that I

14 could probably write it on my little fingernail,

15 and you should leave producing food to food

16 producers that know what they are doing, because

17 this is no place for government to get into

18 telling what you crops, how to do it and all

19 that. I farm different than my neighbor --

20 BY MR. KILLINGER:

21 Q. Okay.

22 A. -- as you have already determined.

23 Q. Well, do you think that any regulation by

24 the government of the farming industry is a good

25 thing?

 

247

 

 

1 MR. GREEN: Object to the form.

2 THE WITNESS: I'm against regulation.

3 BY MR. KILLINGER:

4 Q. Could you flip to the next page, please?

5 The last line of the first paragraph says, "The state

6 may, and often does, impose more stringent standards

7 than those at the federal level, and the local

8 standards can be, and often are, more stringent than

9 state standards". Do you see that as a problem; that

10 the standards may be different from states, working

11 its way to federal level?

12 MR. GREEN: Object to the form.

13 You may answer.

14 THE WITNESS: Okay. Would you read the

15 question --

16 BY MR. KILLINGER:

17 Q. I can just reask it. That's fine.

18 A. Okay.

19 Q. What problems, what headaches, does it

20 cause you, as a farmer, to have local standards be

21 more stringent than state standards, and state

22 standards be more stringent than federal standards?

23 A. Because I am against regulations. I don't

24 want to get tied up where I can't move and each step

25 you make, the more stringent. You're binding me

 

248

 

 

1 tighter.

2 Q. Okay. Three lines then into the beginning

3 of the next paragraph there is a reference to a

4 chart.

5 A. Yeah.

6 Q. I don't believe you produced that chart.

7 Do you recall what it showed?

8 A. There it is right here.

9 Q. That's the chart? Okay. That's fine.

10 I'll ask you --

11 A. In fact, it was a slide.

12 Q. A slide? Okay.

13 A. That's it right here.

14 Q. Okay. It is attached. It says "phosphorus

15 concentrations".

16 A. Yes. And it has the backup information;

17 sources and everything.

18 Q. Right. Okay. Going down to that

19 paragraph, you make the statement that "sugar cane

20 field discharges contain five times less phosphorus

21 than that found by an EPA study to be the national

22 average discharge from urban residential lawns"; is

23 that correct?

24 MR. GREEN: Object to the form. Is what

25 correct?

 

249

 

 

1 BY MR. KILLINGER:

2 Q. Did I correctly read that sentence? I

3 guess the document speaks for itself.

4 A. The document should speak for itself. It

5 is referred to here. "Urban residential national

6 mean runoff."

7 Q. All right. Does most of the national

8 average discharge, urban residential runoff,

9 eventually wind up in the Everglades?

10 A. I'm sure some of it does. I'm not sure all

11 of it does, no.

12 Q. Do you consider the Everglades to be

13 unique?

14 A. Yes, they sure are unique.

15 Q. Do you know whether the Everglades are even

16 generally thought of as being susceptible to

17 increased levels of nutrients?

18 MR. GREEN: Object to the form.

19 MR. KILLINGER: I'm sorry. I'll just

20 restate it.

21 BY MR. KILLINGER:

22 Q. Would you agree with the statement that

23 increased levels of nutrients in the Everglades cause

24 the ecosystem of the Everglades to change?

25 MR. GREEN: Object to the form.

 

250

 

 

1 THE WITNESS: No.

2 BY MR. KILLINGER:

3 Q. You would not agree with that?

4 A. No.

5 Q. Okay. On the next page it says that "we

6 have been repeatedly" -- first full paragraph -- "we

7 have been repeatedly assured that best management

8 practices are being developed by our experiment

9 stations which will make it possible for farmers to

10 meet stringent standards to be imposed on

11 agricultural stormwater runoff". Who has repeatedly

12 assured you of that?

13 A. What is the date of this presentation?

14 September 24, 1990. Forrest Izuno.

15 Q. How has he made those assurances?

16 A. I don't understand your question.

17 Q. Has he called you on the telephone and

18 said, "This is what we are working on," or has he

19 given you written reports?

20 A. No, these are comments that he makes

21 offhandedly.

22 Q. Okay. The next sentence says, "But the

23 scientist who head up the BMP research efforts in our

24 area" and it goes on -- who is that scientist?

25 A. Forrest Izuno.

 

251

 

 

1 Q. When I asked you who had assured you, you

2 asked for the date of the document. Does that mean

3 Mr. Izuno is not presently working with you?

4 A. He is working for IFAS.

5 Q. For IFAS. Okay.

6 A. He is an IFAS scientist and he's doing BMP

7 work today. That's the reason I wanted to go back to

8 that date. At that point in time, that statement was

9 a good statement.

10 Q. Okay. Towards the end of that paragraph it

11 says, "Indeed, the Department of Justice recently

12 blocked a National Academy of Sciences study of the

13 Everglades controversy". Can you fill me in on the

14 details of your background for that statement?

15 A. Uh-huh. It was our board. It was

16 recommended by our board that we go to the National

17 Academy of Sciences and bring it in, because we felt

18 that they were a qualified body to review U.S.

19 Justice Department stuff. Dexter stopped that.

20 Q. How did they stop it?

21 A. Told them you can't go.

22 Q. How did he tell them that?

23 A. I imagine in a letter. I imagine it is

24 documented somewhere. There ought to be something in

25 the bowels of this organization here to find out, or

 

252

 

 

1 Cathy's organization, somewhere.

2 Q. Do you know what why he said that?

3 A. Why he stopped them?

4 Q. Yes.

5 A. I have no idea. I think he stopped the guy

6 from the Smithsonian the same way.

7 Q. Why do you think that?

8 A. I don't understand it. I don't know.

9 Q. No. But why do you think he stopped

10 somebody from the Smithsonian?

11 A. Why do I think?

12 Q. Yes.

13 A. I don't know what he is afraid of, what

14 they might do or might uncover, but he said he would

15 not allow another governmental agency, U.S.

16 government agency, to get in here and do any

17 research.

18 Q. So someone from the Smithsonian proposed to

19 do some research?

20 A. Yes.

21 Q. And he vetoed that?

22 A. He vetoed that.

23 Q. Could we turn to the exhibit, the chart

24 that went with this. I guess working from the top

25 down, the first bar graph you have shows advanced

 

253

 

 

1 waste water plant effluents.

2 A. Uh-huh.

3 Q. Then it shows a certain phosphorus

4 concentration.

5 A. Uh-huh.

6 Q. Can you tell me what the horizontal axis of

7 that graph indicates; point one, point two and on up

8 the scale? Is it milligrams per liter?

9 A. One milligram per liter. The urban

10 highway -- you want to go down them?

11 Q. Well, I want to ask you a question about

12 this. Do you know any waste water treatment plants

13 which discharge into the Everglades?

14 A. No, I don't.

15 Q. Do you know whether waste water treatment

16 plants exist for the purpose of trying to treat

17 sewage effluent? Is that the purpose of the waste

18 water treatment plants?

19 A. Yes; to treat.

20 Q. Okay. Is agricultural runoff from the EAA

21 treated at all at this point?

22 A. No.

23 Q. The next line down urban roadway runoff --

24 A. Okay. Point 70 milligrams per liter.

25 Q. Points 07 milligrams per liter. Do you

 

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1 know whether any urban roadway runoff makes its way

2 to the Everglades?

3 A. I'm sure it does.

4 Q. Okay. Do you know where that would come

5 from?

6 A. Urban areas.

7 Q. Such as Miami?

8 A. Such as Miami, Fort Lauderdale, West Palm

9 Beach, Delray, and all the way down the eastern

10 seaboard.

11 Q. Do you have any idea how much?

12 A. No, I don't.

13 Q. The next line down is urban residential

14 runoff. Do you have any idea --

15 A. Point 62 milligrams per liter.

16 Q. Point 62. The next line down is Walt

17 Disney Epcot runoff.

18 A. Roadway runoff.

19 Q. Is that roadway runoff at Epcot?

20 A. Point 22 milligrams per liter.

21 Q. And then the next line is sugar cane

22 runoff, which you have set at --

23 A. Point 126 milligrams per liter.

24 Q. Do you know whether that is still the

25 present level?

 

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1 A. I am quoting 1978.

2 Q. Okay. That's why I wondered if it was

3 still the present level, if you know.

4 A. I don't know.

5 Q. The next line is rainfall.

6 A. Uh-huh.

7 Q. And what is --

8 A. Point 10 milligrams per liter.

9 Q. Okay. Do you know where that rainfall

10 reference was, where the sample was taken from?

11 A. Concentration of rainfall Florida Statewide

12 average.

13 Q. Okay.

14 A. There's a document that would have that in

15 it.

16 Q. Do you know whether the statewide average

17 is the same as the average rainfall that falls in the

18 Everglades?

19 A. I don't know. I haven't seen any figures

20 on the rainfall in the Everglades.

21 Q. Okay. Do you know whether agriculture has

22 any effect on the level of phosphorus which comes

23 back out of the rainfall?

24 MR. GREEN: Object to the form.

25 THE WITNESS: Would you ask the question

 

256

 

 

1 again?

2 BY MR. KILLINGER:

3 Q. Do you know whether agricultural practices

4 have any effect on the level of phosphorus which

5 comes back down in rainfall?

6 A. In rainfall, no.

7 Q. You don't know?

8 A. I don't know.

9 Q. Okay. And then you have South Florida

10 Water Management District proposed runoff goal --

11 A. Uh-huh.

12 Q. -- of point 03 milligrams per liter.

13 A. Uh-huh.

14 Q. And that's still from the draft. That's

15 from the draft SWIM plan, dated August 9, '89?

16 A. Uh-huh.

17 Q. Is that the proposed ultimate goal from

18 that SWIM plan or is that an interim standard?

19 A. That was a goal. Runoff goal in the

20 original SWIM plan.

21 Q. Did the original SWIM plan have an interim

22 level --

23 A. Not that I remember.

24 Q. -- that they were trying to reach?

25 A. Not that I remember.

 

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1 Q. Okay. And finally we have the

2 U. S. Attorneys' proposed runoff standard of point 01

3 milligrams per liter; is that correct?

4 A. Correct.

5 Q. This may already have been asked and

6 answered, but do you know where he came up with that

7 number?

8 A. No, I don't.

9 Q. Have you asked where he came up with that

10 number?

11 A. No.

12 (Thereupon, a luncheon recess was taken.)

13

 

258

 

 

1 AFTERNOON SESSION

2

3 BY MR. KILLINGER:

4 Q. I think that I was finished with the last

5 exhibit, so I'll just go on to the next exhibit. I

6 hand you what I'll have marked as Exhibit Number 20

7 and ask you if you can identify it for me.

8 (The document was marked

9 Exb. No. 20.)

10 BY MR. KILLINGER:

11 Q. Do you recognize that document?

12 A. No. It is copied to me, apparently. I

13 don't remember the document. I don't recall the

14 document. I do know that there was a meeting here

15 with Governor Chiles.

16 Q. That's what I wanted to ask you about. Did

17 you attend the meeting?

18 A. No.

19 Q. Do you know who did attend the meeting?

20 A. No, not totally. I know Mr. Wedgworth

21 attended.

22 Q. Do you know anybody else aside from the

23 governor?

24 A. I think. I'm not sure, but I think Nelson

25 Fairbanks was there also. Beyond that, I don't know

 

259

 

 

1 who was there. Probably somebody from the Fanjul

2 organization. Probably Carson. I wasn't there and I

3 really don't know.

4 Q. Do you know -- I know you weren't there,

5 but do you know if a presentation was made to the

6 governor at that meeting?

7 A. All I know is they had a meeting with the

8 governor. I don't know what transpired.

9 Q. Okay. Did you get a report about the

10 meeting after the attendees, Mr. Wedgworth, et al

11 returned? Do you know the outcome; the result?

12 A. No. He might have mentioned it to me, but

13 I don't recall anything about it.

14 (The document was marked

15 Exb. No. 21.)

16 BY MR. KILLINGER:

17 Q. I hand you what I have marked as Exhibit 21

18 and ask you if you can identify that document.

19 A. Yes. This was some questions and comments

20 that I was going to make at the workshop on the

21 Everglades SWIM Plan February 13, 1991.

22 Q. This is a transcript of questions and

23 comments that you read aloud at the meeting?

24 A. No.

25 Q. Did you actually post these questions and

 

260

 

 

1 comments at the meeting?

2 A. No.

3 Q. Why not?

4 A. Governor Chiles called down and told our

5 chairman we would not consider the Everglades SWIM

6 Plan.

7 Q. Do you know why he did that?

8 A. He took control. I assume he wanted his

9 board to do what he told them to do.

10 Q. So what discussion -- were you at the

11 meeting on February 13?

12 A. Sure was.

13 Q. What discussion of the Everglades SWIM plan

14 was there at that meeting?

15 A. Absolutely none.

16 Q. Was there an announcement made that the

17 board was not going to consider it?

18 A. Yes.

19 Q. Were you in favor of the SWIM plan which

20 was going to be voted on that day?

21 A. Was I in favor?

22 Q. Yes.

23 A. No.

24 Q. Okay. Why not?

25 A. I did not think that we had the problem

 

261

 

 

1 pinpointed and I know we didn't have a solution

2 pinpointed.

3 Q. Are the concerns that you had at that time

4 set forth in these questions and comments?

5 A. Probably some of them. I might have had

6 more.

7 Q. In paragraph 1 of this exhibit it states

8 that, "For the last two years we have been told time

9 and time again that Everglades National Park is

10 receiving excellent quality water". Do you recall

11 who had been telling you that time and time again?

12 A. On our board package there is always a

13 water quality report, and in that was a chart

14 specifically for Everglades National Park.

15 Q. Okay. Was it a chart that listed water

16 samples that were tested for certain parameters?

17 A. Yes.

18 Q. Was it interpreted? Was there a narrative

19 report that Everglades National Park was receiving

20 excellent quality water?

21 A. Yes.

22 Q. Okay. If you flip to the second page,

23 paragraph three, it indicates that the board had been

24 given a Post Buckley study of the ENR project. Do

25 you recall reviewing that study?

 

262

 

 

1 A. I imagine I did. I don't recall

2 specifically, but I imagine I did. The point there

3 that I wanted to make was that had it been subject to

4 peer review, which it had not.

5 Q. It had not?

6 A. No, it had not. And the staff -- at that

7 particular time the staff had told us that it would

8 be subject to peer review, and my question was when

9 are they going to do it and what are the results?

10 Q. Do you know if it is being done now?

11 A. No, I don't know.

12 Q. In paragraph 5, the last sentence makes a

13 reference to permitting vegetable production to

14 continue despite certain SWIM plan requirements. Do

15 you have any evidence or any indication that

16 vegetable production will be forced to cease because

17 of the SWIM plan requirements?

18 A. It could have. You know, as far as that

19 SWIM plan is concerned, that's not the SWIM plan

20 that's there today.

21 Q. Right. I understand that.

22 A. This was another SWIM plan that was

23 involved.

24 Q. Right. Did you have any evidence that that