BOEM  may publish a Request for  Interest (RFI) in the Federal Register (FR)
Qualifications to Acquire  and Hold Renewable Energy Leases and Grants on the OCS (September 2012). This document provides guidelines to  prospective lessees and grantees on the requirements to qualify for and hold  renewable energy leases and grants on the Outer Continental Shelf.
BOEM  publishes a Call for Information and Nominations (Call)
Qualifications to Acquire  and Hold Renewable Energy Leases and Grants on the OCS (September 2012). This document provides guidelines to  prospective lessees and grantees on the requirements to qualify for and hold  renewable energy leases and grants on the Outer Continental Shelf.
Applicant  submits an unsolicited request for a non-competitive lease
Filing  Addresses for Renewable Energy Lease and Grant Requests (February 2016). This document provides filing  instructions for renewable energy lease and grant requests.
BOEM  reviews application for completeness and environmental-use conflict
Qualifications to Acquire  and Hold Renewable Energy Leases and Grants on the OCS (September 2012). This document provides guidelines to  prospective lessees and grantees on the requirements to qualify for and hold  renewable energy leases and grants on the Outer Continental Shelf.
Applicant  submits any required consistency certification and necessary data and  information pursuant to 15 CFR part 930, subpart D, to the applicable State  Coastal Zone Management Act (CZMA) agency or agencies and BOEM
 Prior  to the publication of a Proposed Sale Notice for a Wind Energy Area (WEA), BOEM  prepares a Consistency Determination (CD) under 15 CFR 930.36(a), which it sends to each affected state. Typically,  BOEM prepares a single CD given the proximity of a WEA to multiple states,  comparable impacts on environmental and socioeconomic resources and uses within  each state, common coastal management issues between states, and similar  enforceable policies as identified by each state’s respective coastal zone  management plan. Pursuant to the National Environmental Policy Act (42 U.S.C. 4321–4370f), BOEM prepares  Environmental Assessments (EAs) to consider the reasonably foreseeable impacts  of lease issuance and site assessment activities. These EAs provide the  comprehensive data and information required under 30 CFR 939.39 to support BOEM’s CDs.
   These  CDs consider lease issuance, associated site characterization surveys (i.e.,  shallow hazards, geological, geotechnical, archaeological, and biological  surveys), and site assessment activities (i.e., construction and operation of  meteorological towers and buoys). If a lessee or applicant submits a Site  Assessment Plan (SAP) that shows changes in impacts from those considered in  the CD, or if BOEM has not previously reviewed the proposed site assessment  activities for that WEA pursuant to CZMA, BOEM will require the lessee or  applicant to submit a consistency certification pursuant to 15 CFR part 930, subpart E or D, depending on whether or not a lease has already  been issued.
   The CD and state concurrence do not consider  or apply to future wind energy facilities in the subject WEAs. For Construction  and Operations Plans (COPs), the lessee or applicant is required to submit a  consistency certification (CC) pursuant to 15  CFR part 930, subpart E or D, depending on whether or not a lease has  already been issued. In situations where a CC is required, BOEM will not  approve the SAP or COP until the CC process is completed. 
Lessee  submits survey plan (if required by the lease)
Survey Guidelines. Before BOEM will approve the siting of a facility, structure,  or cable proposed for a renewable energy project on the Outer Continental Shelf,  an applicant must submit a survey plan with its Site Assessment Plan, or General Activities Plan, as  applicable. 
Lessee  submits a Site Assessment Plan (SAP)
Information Requirements  for a Renewable Energy Site Assessment Plan (SAP) (February 2016). These guidelines clarify and supplement  information requirements for SAP submittals. This information is necessary for  BOEM to complete analyses under National Environmental Policy Act and other  applicable laws and regulations.
BOEM  prepares National Environmental Policy Act (NEPA) analysis
 If a Site Assessment Plan (SAP) is submitted for an area  for which BOEM has already considered site assessment activities under the National Environmental Policy Act (NEPA) and other  Federal laws, BOEM would determine whether the existing Environmental  Assessment (EA) and consultations adequately consider the environmental  consequences of the activities proposed in the lessee’s SAP. 
   If BOEM determines that the analysis in the EA adequately  considers these consequences, then no further NEPA analysis would be required  before the SAP is approved. If BOEM determines the analysis in the EA is  inadequate for that purpose or there is no existing EA, BOEM would prepare an  additional NEPA analysis before approving the SAP. 
   Use of a categorical exclusion may be appropriate for a  SAP that proposed deployment of meteorological buoys.
Lessee  submits a Construction and Operations Plan (COP)
Information Requirements  for a Construction and Operations Plan (COP) (April 2016). These guidelines (1) provide data requirements to  help BOEM analyze potential environmental and socioeconomic effects and  operational integrity of proposed construction, operation, and decommissioning  activities; (2) provide recommendations for coordinating with owners and operators  of telecommunication cables that traverse a BOEM-issued renewable energy lease  area; and (3) provide clarification on the site characterization data that the  lessee submits with its initial COP to support BOEM’s review of the lessee’s  initial and subsequent phases of development of the lease area, when the lessee  proposes phased commercial development of the lease area.
BOEM  prepares National Environmental Policy Act (NEPA) analysis
 If a Construction and Operations Plan (COP) is submitted,  BOEM would prepare a project-specific NEPA analysis. This would most likely  take the form of an Environmental Impact Statement (EIS) and would provide  additional opportunities for public involvement pursuant to NEPA and the  Council on Environmental Quality (CEQ) regulations at 40 CFR 1500–1508. 
   These additional opportunities for public involvement  include: 1) a formal scoping period during which BOEM will host public scoping  meetings to verify information submitted by the lessee and gather input on  issues, alternatives, and mitigation measures to be considered in the project  specific NEPA document; and 2) a public comment period on the draft NEPA  document, during which BOEM will host additional public meetings. 
   BOEM will use the EIS document to evaluate the reasonably  foreseeable environmental consequences associated with the proposed COP  activities. BOEM will use the EIS to decide whether to approve, approve with  modification, or disapprove a lessee’s COP pursuant to 30 CFR 585.628, and to identify any terms and conditions of plan  approval. 
