INTERNAL — DO NOT SEND

P019 Internal Memo — Juanita Creek Lateral Migration IED

Date: March 11, 2026
Subject: Protest 019 (LTR 372) — Juanita Creek Lateral Migration — Internal Analysis and DRB Preparation
Responding to: Skanska LTR 372 (March 10, 2026) protesting WSDOT SL 9727-280 (February 24, 2026)
Purpose: This internal memo documents WSDOT’s analysis of Protest 019 for internal use and DRB preparation. Contains internal reasoning, argument rebuttals, and strategic analysis not for external distribution.

KEY FINDING: Design Review, Not Direction.
The RCSR comments were design review feedback, not Owner-Initiated direction. Comment 196 is WSDOT telling AECOM that their own technical evidence supports a “NOT low” conclusion. The IED characterization of SL 9727-280 is defensible. New arguments in LTR 372 (IED characterization, WAC 162-08-017, Section 1-02.1 shield, P003 consistency) do not change this conclusion. Each fails on independent grounds.

I. Contract Framework

A. Table 2.30-B and Section 2.30.5.2.1

Table 2.30-B designates Juanita Creek (I-405 MP 21.94) lateral migration (structural) as “low.” This designation has not been overridden. Section 2.30.5.2.1 establishes that Table 2.30-B designations “shall apply” and takes precedence.

B. BDM 8.1.10: Scour of Retaining Walls (Separate Mandatory Standard)

BDM Section 8.1.10 states: “Total Scour includes the amount of streambed vertical elevation drop at a given location due to the removal of streambed material caused by flowing water and the effects of lateral migration.”

This is a Mandatory Standard per RFP Section 2.13.4. It applies to ALL retaining walls near water, regardless of the Table 2.30-B fish passage classification. BDM 8.1.10 compliance is the Design-Builder’s responsibility. Figure selection (8.1.10-1, -2, -3) is driven by site-specific scour analysis, not Table 2.30-B.

BDM 8.1.10 is reserved for DRB and does not appear in SL 9727-280. The determination letter relies on (1) RCSR comments were design review with discretion (Comment 196) and (2) Section 2.30.5.6 required the scour analysis. BDM 8.1.10 adds a third defense line that requires engineering support to deploy effectively.

C. Section 1-02.1: WSDOT Comment Shield

“Notwithstanding anything in the Contract Documents to the contrary, no field explanations or interpretations provided by WSDOT at any meetings, and no comments by WSDOT on Design Documents or Released for Construction (RFC) Documents, shall be deemed, construed, or interpreted to (a) amend, supersede, or alter the terms, requirements, limitations, or meaning of any Contract Document or (b) release or relieve the Design-Builder from full responsibility for the design of the Project in accordance with the Contract Documents. (However, Written Interpretive Engineering Decisions from WSDOT pursuant to Section 1-03.5 may be relied upon to provide information, clarifications and interpretations of ambiguous or uncertain design requirements set forth in the Contract Documents.)”

The shield is absolute for comments. “No comments” means all comments. No tone exception. No distinction between “suggestive” and “directive” comments. RCSR comments on the FHD are exactly “comments by WSDOT on Design Documents.” Section 1-02.1 applies directly.

D. Section 1-03.5: IED Authority, Entitlement Bar, Burden-Shifting

Key operative phrases: “WSDOT… may issue its own Interpretive Engineering Decision” (no DB request required). “No Interpretive Engineering Decision by WSDOT shall form the basis for an increase in the Contract Price or extension of the Contract Time, unless WSDOT expressly provides otherwise in writing.” “The Design-Builder shall bear the burden of proving that WSDOT’s interpretation is incorrect or unreasonable.

II. RCSR Comment Analysis

225-Comment Language Pattern

Full analysis of Package 8 (202 comments) and Package 9 (23 comments) = 225 total RCSR comments:

Comment 2 (HQH, Package 9) is labeled “Preference” and suggests angled wingwalls (25–45 degrees). WSDOT actually suggested a design that would have AVOIDED the lateral migration scour concern. The Design-Builder chose the parallel orientation that created the problem.

Comments 3 and 4 (HQH, Package 9) — BDM Context

Both comments explicitly cite BDM 8.1.10, not Table 2.30-B. Comment 4 cites Figure 8.1.10-2 (Scour WITH Lateral Migration) because AECOM’s own analysis found conditions (erodible soils, beaver activity, insufficient data to exclude lateral migration) that pointed to that figure. The obligation to evaluate total scour for retaining walls is mandatory per BDM 8.1.10. The specific figure selection follows from the site-specific scour analysis, not from a blanket requirement.

III. Scour Depth Reality Check

ComponentDesign FloodCheck Flood
Long-term degradation (ft)0.120.12
HEC-18 contraction scour (ft)00
NCHRP 24-20 contraction and abutment scour (ft)0.531.04
Total depth of scour (ft)0.651.16
WSDOT minimum scour depth (ft)33

The calculated total scour (0.65–1.16 ft) is far below the 3 ft WSDOT minimum. The minimum governs per WSDOT Hydraulics Manual. The cost driver is NOT deeper scour — the cost driver is the horizontal application of scour to the wingwalls (BDM 8.1.10 Figure 8.1.10-2 treatment), which requires the soldier pile walls to resist lateral erosion. Wingwall retained heights (31–42 ft) are driven primarily by the tunnel excavation depth, not scour.

IV. Cost Attribution ($5,466,392)

ItemSkanska’s ClaimWSDOT AssessmentAttributable to WSDOT Direction?
Wingwall depth increase (“up to 15 ft”)Driven by lateral migration scourStructural calcs: WW3/WW4 retained heights 31–42 ft, embedment 14–19 ft. Driven by tunnel excavation depth and soil conditions. LM drives horizontal application (Figure 8.1.10-2), not vertical depth. AECOM’s own FHD found conditions supporting inclusion.NO
Headwall design modificationsScour depth impacted fascia elevationStructural calcs Table 1: “Fascia bottom level driven by tunnel footing elevation.” AECOM confirms design completed “before guidance to ignore lateral migration.”NO
Structural beamsSupporting headwall redesignConsequential to headwall design, which was AECOM’s own work.NO
MicropilesFoundation support for deeper wingwallsMay be attributable to depth increase. But depth driven by AECOM’s analysis and retained height, not scour direction.NO
Buried riprapProtects existing MSE wall downstreamSection 2.30.5.6 requires DB to design scour countermeasures. FHD Section 8: “No countermeasures are recommended to protect the abutments from scour.” Buried riprap is a downstream countermeasure. RFP Section 2.6: MSE wall 2185L-A was anticipated to be affected.RESERVED (SKA-0297)
Tunnel depthLM impact on sediment sizingAECOM confirms LM “did not impact depth of sediment in tunnel” (Slide 17).NO
Design Choice Cost Attribution Defense (Reserve for DRB): Package 9 Comment 2 (HQH, “Preference”) suggested angled wingwalls (25–45 degrees off the headwall). This would have: (1) reduced wall length, (2) reduced retained height, (3) less embedment depth, (4) fewer tieback anchor rows, (5) fewer soldier piles, (6) stayed on existing ROW (avoiding SKA-0297 entirely), (7) less scour exposure per BDM 8.1.10, (8) less buried riprap. The Design-Builder chose parallel wingwalls. The parallel configuration drove the cost magnitude. This is a design choice defense — quantitative analysis requires independent estimate.

V. Defense Layering (DRB Strategy)

LayerDefenseDeployed InNotes
1RCSR comments were design review with discretion (Comment 196)SL 9727-280 (determination)Primary defense
2Section 2.30.5.6 required the scour analysis (contractual obligation)SL 9727-280 (determination)Secondary defense
3BDM 8.1.10 requires total scour for retaining walls (existing Mandatory Standard)Reserved for DRBRequires engineering support. Opens technical arguments that need expert testimony.

VI. WSDOT Strengths and Weaknesses

StrengthsWeaknesses
  • Comment 196 text unambiguous: “seems like,” “please revise” = discretion
  • Section 1-02.1 shield is textually absolute for comments
  • Section 1-03.5 entitlement bar and burden-shifting favor WSDOT
  • AECOM’s own analysis found conditions supporting the design
  • AECOM’s design preceded any guidance on lateral migration
  • 225 comments analyzed, zero directive language
  • July 28, 2025 comment closure confirmed “low” and directed DBIC if disagreed
  • DB proceeded 10–11 months without protest
  • Design impact was real. $5.4M may be supported by actual design differences.
  • BDM figures comparison makes the scope argument tangible.
  • “Significant effort to redesign” supports costs committed argument.
  • RCSR resolution was a practical prerequisite for RFC.

VII. P003 Coordination

P003 status: DRB (Notice of Dispute filed LTR 348, February 12, 2026). Same DRB panel may hear both P003 and P019.

Alignment rules — do NOT violate:

VIII. Key Items Reserved for DRB Only

ItemWhy Reserved
BDM 8.1.10 as independent Mandatory StandardRequires engineering expert testimony. Opens technical arguments about figure selection and whether wingwall classification triggers 8.1.10. Deploy as third defense line at DRB with engineering support.
“Guidance to ignore lateral migration” sourceSlide 16 has two separate facts: (1) AECOM designed “before guidance” and (2) Sonia closed RCSR comments. These are not the same event. The “guidance” most likely came from Skanska to AECOM (directing compliance with “low” designation). Reserve at determination stage. At DRB, respond if Skanska identifies the source; do not volunteer.
Parallel wingwall design choice cost attributionQualitatively analyzed but requires independent engineering estimate for quantification. Deploy at DRB to challenge the $5.4M magnitude even if entitlement is established.
AECOM internal email analysisSkanska asking AECOM to “depict how WSDOT influenced the design” shows Skanska directing the narrative. AECOM’s more measured response undermines the “WSDOT directed” characterization. Reserve for DRB.

IX. Key Contract References

SectionPurpose
GP 1-02.1WSDOT comment shield. “No comments… shall be deemed, construed, or interpreted to amend, supersede, or alter.”
GP 1-03.5IED authority. Entitlement bar. Burden-shifting.
Table 2.30-BFish passage lateral migration classification (“low” at Juanita Creek)
Section 2.30.5.2.1Table 2.30-B compliance and precedence clause
Section 2.30.5.6Scour analysis requirements. DB “shall perform a scour analysis” including LM risk. “Shall locate, design and construct any required scour countermeasures.”
BDM Section 8.1.10Retaining wall scour requirements. Total Scour includes lateral migration effects. Reserved for DRB.
Section 2.13.4BDM as Mandatory Standard for scour
GP 1-04.4(1)OIC requires WSDOT directive
GP 1-04.4(2)DBIC mechanism (DB never submitted one)
GP 1-04.5Protest procedure. 14-day window. Supplemental and determination timeline.
GP 1-04.1Contract Price includes compliance costs

INTERNAL MEMO — Protest 019 — SKA-0303 — Prepared March 11, 2026