1. Executive Summary
Decision Requested
Approve sending DRB Referral Letter to initiate formal Dispute Review Board proceedings.
- Recommendation: Proceed to DRB on one question
- Cost Exposure: $450K–$7.8M (two countermeasure options); excludes CLOMR, permitting, reconstruction
- Risk Level: Low-to-moderate — strong contract language, but two bridges already constructed
DRB Question
Does Section 2.30.5.2.1 require the Design-Builder to apply the “not low” lateral migration determination to Sammamish River structures, or does it permit the Design-Builder to reach a different determination through independent analysis?
Section 2.30.5.2.1 provides: “The Sammamish River ‘not low’ lateral migration determination discussed in the Sammamish River Migration Risk Assessment (Appendix H) shall apply to the new structures within the river flow limits defined by the 500-year flood elevation.”
“Shall apply” mandates the “not low” determination as a contract requirement. H26 concludes: “The risk of channel migration… is NOT LOW and therefore will require further analysis during final design.” The word “therefore” shows further analysis is a consequence of the NOT LOW determination, not a license to revisit it.
Three bridges are affected: the Ramp Bridge (constructed), Mainline Bridge (in construction), and DAR Bridge (design phase, April 2026 construction). Skanska’s supplemental (LTR 322) presents two countermeasure cost scenarios: Option 1 ($7,809,741) — vertical steel sheet pile walls; Option 2 ($450,032) — rock and log vanes per HEC-23. Both exclude CLOMR, extended general conditions, permitting, and reconstruction.
Skanska/AECOM’s Table 2.30-B argument—that the Sammamish bridges are “fish passage structures” subject to a “low” standard—fails because Table 2.30-B identifies specific fish passage structures by name and does not include the I-405 bridges. Two key submittals are directly affected: the Draft FHD (CRE-00888, rejected January 2025) and the Zero Rise Report (CRE-01059, blocked). Between August 2024 and January 2025, WSDOT and Skanska/AECOM engaged in 8+ documented OTS review interactions without reaching agreement on the classification.
Per Section 1-03.5, the IED interprets existing requirements and creates no entitlement to cost or time adjustment. The Design-Builder had six months’ notice before contract award. H26 was added via Addendum 9 (Jan 2023); Section 2.30.5.2.1 via Addendum 14 (Mar 2023). Section 2.14.6.11 zero-rise certification is blocked pending resolution.
2. Skanska/AECOM Assertions and WSDOT Position
Skanska/AECOM Argument
H26 added first as “reference only.” “Shall apply” added later. Suggests no fixed intent.
WSDOT Rebuttal
Contract signed as a whole. Addendum 14 added the “shall apply” language after Addendum 9 added H26. The sequence shows WSDOT refined the requirement to be more explicit, not less.
Skanska/AECOM Argument
H26 says determination “will require further analysis during final design.” Therefore analysis can refine or override.
WSDOT Rebuttal
H26 reads: “The risk of channel migration… is NOT LOW and therefore will require further analysis.” The word “therefore” shows further analysis is a consequence of the NOT LOW determination, not a license to revisit it. DB’s reading renders Section 2.30.5.2.1 meaningless.
Skanska/AECOM Argument
Contract must be read as integrated whole, including FHD analysis requirements.
WSDOT Rebuttal
Specific governs general. The explicit “shall apply” in Section 2.30.5.2.1 is a specific mandate that controls over general FHD analysis requirements.
Skanska/AECOM Argument
Contract-incorporated March 2022 manual lacked lateral migration methodology.
WSDOT Rebuttal
Section 2.30.5.2.1 is self-contained. It does not depend on the Hydraulics Manual to establish the “not low” requirement. The manual provides methodology for compliance. The requirement derives from Section 2.30.5.2.1.
Skanska/AECOM Argument
BSTEM, HEC-20, FHWA Rapid Assessment demonstrate risk is actually “low.”
WSDOT Rebuttal
Engineering analysis cannot override explicit contract language, regardless of quality. Section 2.30.5.2.1 says “discussed in” (citing a completed assessment) + “shall apply” (mandating its result). The proper mechanism to change the classification is a DBIC under Section 1-04.4(2). No such request has been submitted.
Skanska/AECOM Argument
H26 is “called out as a mandatory requirement” in Section 2.30.5.2.1, elevating it from Reference to Contract Document under Section 1-03.1.
WSDOT Rebuttal
Even if elevated, H26 says “NOT LOW,” which supports WSDOT’s position, not Skanska’s. Section 2.30.5.2.1 is the requirement source, not H26. The mandate is self-executing.
Strategy note: Do not raise this argument at the DRB. Keep rebuttal in reserve. If Skanska raises it, respond that H26’s own conclusion supports WSDOT.
Skanska/AECOM Argument
WSDOT has not provided sufficient information to assess a path forward.
WSDOT Rebuttal
Direction given through SL 116 (IED, June 2025), workshop (Aug 2025), SL 139, SL 178 (CLOMR guidance), SL 220 (follow-up). Multiple compliance paths identified (structural or countermeasures per HEC-23).
Skanska/AECOM Argument
WSDOT’s position is delaying dependent design activities, especially DAR Bridge (April 2026).
WSDOT Rebuttal
DB has had since contract award (July 2023). IED issued June 2025. 8+ months have elapsed. Schedule risk results from proceeding with non-compliant design. Per Section 1-03.5, IED creates no schedule entitlement.
Skanska/AECOM Argument
Table 2.30-B classifies the Sammamish River bridges as “fish passage structures” subject to a “low” lateral migration standard.
WSDOT Rebuttal
Table 2.30-B identifies specific fish passage structures by name (e.g., Kelsey Creek, Swamp Creek culverts) and does not include the I-405 Sammamish River bridges, which are transportation structures spanning the river. Section 2.30.5.2.1 is a site-specific provision that expressly identifies the Sammamish River structures and mandates the “not low” determination, superseding any general table classification.
3. WSDOT Position & DRB Considerations
Defense Layers
| # | Defense Layer | Authority | Strength |
|---|---|---|---|
| 1 | “Shall apply” is dispositive | Section 2.30.5.2.1 | Strong |
| 2 | IED authority, no entitlement | Section 1-03.5 | Strong |
| 3 | Pre-award notice (Form A, 6 months) | Addendum 9, 14 | Strong |
| 4 | Silent deviation — no DBIC filed | Section 1-04.4(2) | Strong |
| 5 | LTR 322 deficiencies | Section 1-04.5 | Moderate |
| 6 | WSDOT demonstrated good faith | Partnering record | Favorable |
| 7 | H26 rebuttal — even under 1-03.1, H26 says “NOT LOW” | H26 | Reserve |
DRB Considerations
- Two bridges already constructed. Sympathy factor, but the contractual question is unchanged regardless of construction status.
- DAR Bridge may already comply. AECOM’s draft analysis suggests current shaft design accommodates “not low” scour — Skanska may call the dispute “academic.” WSDOT response: low-cost compliance makes the silent deviation less defensible.
- DAR Bridge schedule pressure. Design blocked pending resolution (April 2026). WSDOT response: requirement has been in the Contract since award; WSDOT first flagged Aug 2024.
- CLOMR is conditional. 12–18 month timeline applies only if BFE rises. Countermeasure approaches may avoid a BFE rise entirely.
- Sophisticated Skanska/AECOM position. Multiple legal theories (addendum sequencing, harmonization, 1-03.1 reclassification, Table 2.30-B) require careful, layered rebuttal.
- Section 1-03.1 argument. Double-edged sword — even under Skanska’s own reading, H26 says “NOT LOW.” Keep rebuttal in reserve.
- Collaborative resolution possible. DAR Bridge negotiation could narrow the dispute scope.
- DRB may lean toward compromise. Cost disparity ($450K vs. $7.8M) may reinforce tendency toward practical resolution.
- Cost disparity ($450K vs. $7.8M). Wide range suggests LTR 322 cost analysis is preliminary and may not reflect the most efficient compliant solution.
Fallback Position
If DRB recommends compromise: accept countermeasures for DAR Bridge only if it preserves the “shall apply” framework as precedent. Resist any recommendation that the Design-Builder may override contractual design classifications through independent analysis — this precedent affects all IEDs on this project.
4. Chronology
| Date | Party | Event | Document |
|---|---|---|---|
| 2023-01-26 | WSDOT | Addendum 9 issued — adds Appendix H26 | Add. 9 |
| 2023-03-02 | WSDOT | Addendum 14 issued — “shall apply” language | Add. 14 |
| 2023-05-30 | Skanska | Proposal submitted. Form A certifies all addenda | Form A |
| 2023-07-27 | WSDOT | Contract awarded | — |
| 2023-08-10 | Both | Contract executed | — |
| 2024-07-16 | AECOM | Draft FHD submitted with “low” lateral migration (CRE-00888) | CRE-00888 |
| 2024-08-06 | WSDOT | Review comments flag “not low” issue (RCSR #3, #4) | RCSR |
| 2024-08-20 | Skanska | Zero Rise Report submitted (CRE-01059). Blocked | CRE-01059 |
| 2024-09-10 | Both | Fish Passage Task Force presentation | — |
| 2024-09-30 | WSDOT | Assink email: “low” only with non-erodible materials | — |
| 2024-10-25 | Skanska | OTS revised FHD transmitted | — |
| 2024-11-26 | Both | Lateral migration meeting, no resolution | — |
| 2024-12-23 | Skanska | Revised FHD via email with BSTEM modeling | — |
| 2025-01-10 | WSDOT | Technical comments on Dec 23 FHD | — |
| 2025-01-13 | WSDOT | FHD rejected. Review comments not resolved | — |
| 2025-01-21 | WSDOT | Additional comments (Ng, Black, Sofield) | — |
| 2025-02-10 | Both | Multi-party technical meeting | — |
| 2025-03-04 | AECOM | Revised FHD submitted. Conclusion unchanged | — |
| 2025-04-21 | WSDOT | First written notice: does not concur with “low” | |
| 2025-06-13 | WSDOT | IED issued — directs “not low” | SL 116 |
| 2025-06-27 | Skanska | Response to IED. Disputes interpretation | LTR 204 |
| 2025-07-09 | WSDOT | RE: LTR 204 | SL 125 |
| 2025-07-17 | Skanska | Requests workshop | LTR 214 |
| 2025-07-21 | WSDOT | Agrees to workshop | SL 127 |
| 2025-07-23 | Skanska | Pre-workshop AECOM position letter | LTR 215 |
| 2025-08-07 | Both | Workshop held — no resolution | Notes |
| 2025-08-15 | WSDOT | Withholds determination while DB explores alternatives | SL 139 |
| 2025-10-13 | WSDOT | CLOMR guidance — 12–18 month warning | SL 178 |
| 2025-12-17 | WSDOT | Follow-up — no compliant solution presented | SL 220 |
| 2025-12-30 | Skanska | Notice of Protest — PCO 126 | LTR 309 |
| 2025-12-31 | WSDOT | Denies 75-day request. Supplemental due Jan 16 | SL 228 |
| 2026-01-16 | Skanska | Supplemental — 138 pages, $450K–$7.8M | LTR 322 |
| 2026-01-29 | WSDOT | Written Determination — denied “without merit” | SL 252 |
| 2026-02-10 | AECOM | DRAFT pier scour analysis for DAR Bridge | Draft |
| 2026-02-11 | AECOM | Notice of Dispute — introduces Section 1-03.1 argument | — |
| 2026-02-12 | Skanska | Notice of Dispute — formal DRB escalation | LTR 348 |
| 2026-02-17 | AECOM | DRAFT drilled shaft evaluation — DAR accommodates scour | Draft |
| 2026-02-20 | WSDOT | Acknowledges dispute — awaits DRB referral | SL 269 |
5. Cost & Time
Skanska’s Cost Estimates (LTR 322)
| Scenario | Cost | Schedule Risk | Notes |
|---|---|---|---|
| Option 1: Sheet Pile Walls | $7,809,741 | Unknown | 352 fifty-foot steel sheets ($2.0M) + pile driving ($2.6M) + 20% markup ($1.3M). Excludes CLOMR, extended GCs, permitting, reconstruction |
| Option 2: Rock/Log Vanes (HEC-23) | $450,032 | Unknown | Design ($127K) + FHD update ($106K) + construction. Bioengineering approach. Excludes CLOMR, extended GCs, permitting |
| DAR Bridge RFC | — | April 2026 at risk | Design blocked pending dispute resolution. 6+ months potential delay |
Key Considerations
- Interior pier prohibition: BDM Section 7.1.7.B states countermeasures “shall not be placed at interior piers.” The only compliant path is foundation design accommodating full scour depth.
- AECOM draft analysis (Feb 2026): DAR Bridge shafts (100–135 ft) already accommodate “not low” scour — oversized for landslide demands. Only Piers 3 and 4 within 500-year flood limits. Ramp Bridge and Mainline Bridge not analyzed. Draft in WSDOT review.
- Zero-rise certification: CRE-01059 submitted August 2024 but blocked per Section 2.14.6.11. Lateral migration classification affects scour countermeasure design, which affects the hydraulic model and BFE analysis.
- CLOMR timeline: 12–18 months per SL 178, but conditional — only applies if BFE rises. Countermeasure approaches may avoid BFE rise entirely.