Yurok Community LDES Project -REVISED
Summary
SCH Number
2026070777
Public Agency
California Energy Commission
Document Title
Yurok Community LDES Project -REVISED
Document Type
NOE - Notice of Exemption
Received
Posted
7/20/2026
Document Description
The proposed project will demonstrate a vanadium flow (VRF) battery energy storage system (BESS) technology to provide resilient and economical energy supplies for essential Tribal facilities in the Yurok Tribe community in Weitchpec, CA within the investor-owned utility service territory of Pacific Gas and Electric. The VRF BESS will integrate existing and planned distributed energy resources (DER) to provide resilient and economical energy supplies for essential Tribal facilities. The proposed VRF BESS, with a nameplate capacity of 0.5 Mega Watt (MW)/3.0 MW hours (MWh), has the ability to discharge at least 100 kilo Watt for durations up to 24 hours, and as much as 0.52 MW for short durations. Demonstrating these capabilities will deliver greater resiliency and grid-infrastructure benefits and lifetime energy cost savings over competing technologies. The project will demonstrate a technology that is more flexible, allowing 100% depth of discharge without impairing BESS capacity or lifespan, and achieving MWh-scale battery hibernation to substantially eliminate self-discharge. This technology will avoid the safety, flammability, and recyclability drawbacks of Li BESS technologies.
Construction is expected to begin on September 1st, 2026, and be completed by May 1st, 2029. The project is expected to operate for approximately 25 years beginning in 2029. The project is expected to utilize 3 VRF BESS energy unit containment vessels, which will be pad mounted side-by-side. A single VRF BESS power unit will sit atop the middle energy unit. The total estimated layout for the VRF BESS units is about 1,090 square feet. Additional equipment includes microgrid controls and switchgear, a lithium iron phosphate BESS, an emergency back-up diesel generator, and associated transformers, power conditioning equipment, controls and switchgear. These pad mounted components will occupy an additional approximately 2,290 square feet. All of this equipment will be located on an existing 12,700 square foot graded flat area with an existing home. The graded flat will be enlarged to approximately 22,000 square feet. The disturbed area will occupy approximately 43,000 square feet, including cut and fill slopes and an access road, and approximately 1,025 cubic yards of cut and fill will be generated and completely utilized on the site. In addition, an area approximately 64,000 square feet in area will be disturbed to clear land for a solar PV array and associated maintenance roads, including an estimated 975 cubic yards of additional cut and fill.
The BESS electrolytes are the main hazardous materials associated with the project. The three VRF BESS energy units contain approximately 146,000 liters of electrolyte, with an integrated secondary containment capable of containing the entire volume of electrolyte, as a safety container. All plumbing is located within the envelope of the secondary containment bundle. The VRF BESS is delivered to the site in a zero percent state of charge, fully discharged, but ready to operate and fill with electrolyte. During shipping electrolyte is contained within 1,000 L IBC totes, with sixteen totes per truckload. Shipping during inclement weather consisting of rain, fog, snow, or high winds as defined by the National Weather Service, is prohibited and a pilot vehicle will accompany the shipment with each load. Electrolyte is not handled on-site during construction or operations, except to transfer the electrolyte from the IBC totes to the energy units. The electrolyte transfer process is conducted by skilled technicians with appropriate safety gear and precautions, including a spill containment system. The lithium iron phosphate BESS has fully contained electrolyte, is shipped filled, and the possibility of an electrolyte spill from the lithium iron phosphate BESS is very remote due to the absence of free liquid electrolyte (it is largely absorbed within the cell materials). The lithium iron phosphate BESS also has small quantities of
coolant and refrigerant that are considered hazardous materials.
Sitework is expected to require access by approximately 10-20 light, medium, and heavy-duty construction vehicles each day for several weeks during land clearing and grading, active excavations for equipment pads and PV array supports, and deliveries of equipment and materials for the project. These vehicles will include personal vehicles for construction personnel as the bulk of the equipment, with water trucks, delivery vehicles, forklifts, and similar being the remainder. Previously disturbed vacant land in the immediate vicinity will be designated for parking and staging of equipment and materials during construction activities. The VRF BESS delivery will require four 40-foot shipping containers delivered and unloaded at site, and ten truckloads to haul the VRF electrolyte in IBC containers. In addition, trucks will deliver a control building, lithium iron phosphate BESS, emergency diesel generator, associated balance of system equipment, and approximately 1,160 solar PV modules. During commissioning, staff will require two vehicle trips per day, for approximately one month. Less than 30 construction workers will be on-site for several months during active construction, with fewer than 10 on-site during commissioning and testing activities. Chain-link fencing around the battery and power conditioning equipment is planned as part of the project, as typically required by electrical codes.
Trenching for electrical conduits and conductors between battery pad and equipment location and existing facilities will be required. Minor excavations of a few feet in depth or less will be required for installation of concrete pad mounted equipment. Clearing and grubbing will be required, as will some leveling, however, no import or export of soils is anticipated. The BESS and other related distributed energy equipment will be housed in outdoor-rated container enclosures, and no new small structures are planned for the project.
Contact Information
Name
Sean Anayah
Agency Name
California Energy Commission
Job Title
Commission Agreement Manager
Contact Types
Lead/Public Agency
Address
Phone
Name
Dustin Jolley
Agency Name
OurEnergy LLC
Job Title
Project Manager
Contact Types
Project Applicant / Parties Undertaking Project
Phone
Email
Location
Coordinates
Cities
Weitchpec
Counties
Humboldt
Regions
Northern California
Zip
95546
State Highways
CA-169
Waterways
Klamath River
Other Location Info
383 Upper Weitchpec School Road
Notice of Exemption
Exempt Status
Other
Type, Section or Code
Cal. Code Regs., tit. 14, §15061(b)(3)
Reasons for Exemption
This project is covered by the Common Sense Exemption under Cal. Code Regs., tit. 14, § 15061 (b) (3) that CEQA applies only to projects which have the potential for causing a significant effect on the environment. Where it can be seen with certainty that there is no possibility that the activity in question may have a significant effect on the environment, the activity is not subject to CEQA.
This project will take place on tribal land, but off-reservation impacts must still be evaluated under Government Code section 12012.101(b)(2), but this project is exempt under the “common sense” CEQA exemption because the proposed project will not:
- construct on or alter any off-reservation land;
- impact local air quality;
- use groundwater resources or otherwise impact any off-reservation water resources;
- build additional transportation infrastructure; generate additional traffic volumes;
- increase, once the project is complete, ambient noise beyond the existing commercial activities; or
- degrade the visual character or quality of off-reservation views, including those of scenic resources or objects of aesthetic significance.
The proposed project will consist of the installation of a microgrid system at the reservation of the Yurok Tribe in Weitchpec, California. The microgrid system installation will be a minor alteration to an existing facility within the interior of the reservation with no expansion beyond the reservation operation. Vehicle trips associated with the construction of the project will be temporary and the operation of the microgrid system will result in a negligible number of regular operational trips for maintenance. BMPs will be used during installation and operation of the microgrid system. Therefore, no adverse effects to offsite air or water quality will occur as a result of the project. The installation and operation of the microgrid system would not substantially degrade the existing visual character or quality of off-reservation visual resources, as the system components are not visually obtrusive.
Compared with the current supply of energy, the proposed project will improve energy resiliency for Tribal facilities and the local electric grid, as well as reduce overall energy demand on the local energy provider and lower fossil fuel usage and greenhouse gas (GHG) emissions. Because the proposed project will improve air quality and reduce GHG emissions, and does not provide for any physical changes outside of the Indian reservation, it can be seen with certainty that there is no possibility that the proposed project may have a significant effect on the off reservation environment. Based on all these factors, the proposed project meets the CEQA “common sense” exemption.
The project does not involve impacts on any particularly sensitive environment; will not impact an environmental resource of hazardous or critical concern where designated, precisely mapped, and officially adopted pursuant to law by federal, state, or local agencies; does not involve any cumulative impacts of successive projects of the same type in the same place that might be considered significant; does not involve unusual circumstances that might have a significant effect on the environment; will not result in damage to scenic resources within a highway officially designated as a state scenic highway; the project site is not included on any list compiled pursuant to Government Code section 65962.5; and the project will not cause a substantial adverse change in the significance of a historical resource. Therefore, none of the
exceptions to categorical exemptions listed in CEQA Guidelines section 15300.2 apply to this project, and this project will not have a significant effect on the environment.
Attachments
Notice of Exemption
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