HomeMy WebLinkAboutCA-27 Third Declaration Donna Frostholm (COUNTY 072925)THIRD DECLARATION OF DONNA
FROSTHOLM
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Jefferson County Prosecuting Attorney
1820 Jefferson Street/P.O. Box 1220
Port Townsend, WA 98368
360-385-9180
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BEFORE THE JEFFERSON COUNTY
HEARING EXAMINER
MARILYN SHOWALTER and JAN WOLD
Appellants,
vs.
JEFFERSON COUNTY,
Respondent,
and
ROCK ISLAND SHELLFISH; ROBERT
CARSON,
Respondent.
Case No.: (SDP2024-00006)
THIRD DECLARATION OF DONNA
FROSTHOLM
I, DONNA FROSTHOLM, hereby declare as follows:
1.I am over the age of 18 years, competent to be a witness herein, and make this
declaration based upon my personal knowledge.
2.I am the Associate Planner – Lead/Wetland Specialist for Jefferson County, Washington.
3.I have been employed with Jefferson County for 19 years, since March 2006.
4.I previously set forth my educational background and professional credentials as a career
biologist currently working as a public servant in my First Declaration dated July 15, 2025.
5.In Appellant’s Response to Respondents’ Motion to Dismiss, Appellants allege posting
of the NOA was not done properly on the Subject Project [Issue A.1]. However, the notice
CA received 07/29/25
EXHIBIT CA-27
THIRD DECLARATION OF DONNA
FROSTHOLM
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Jefferson County Prosecuting Attorney
1820 Jefferson Street/P.O. Box 1220
Port Townsend, WA 98368
360-385-9180
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board was posted on the road frontage for the site as required by JCC 18.40.210(2) and was
visible from Killapie Beach Road.
6. Additionally, there are several parcels along Killapie Beach Road, most of which do not
have an address. A reason for posting the notice on the property is to ensure the public is clear
where the proposed action would be located.
7. Another matter raised in the Response is regarding Appellant’s email exchange with
DCD in late 2023. From my perspective, these emails did not have anything to do with SEPA.
For example, the first email Ms. Showalter referenced (November 30, 2023) inquired whether
DCD had received an application from Mr. Carson and, as noted in my December 4, 2023 email
to Ms. Showalter, at the time, no application had been submitted. The third and fourth emails
she referenced (December 20, 2023) pertained to a Public Records Request. The December 21,
2023, email is not represented accurately by the Appellants. It was not an application submittal,
but rather a letter from Mr. Carson’s attorney.
I hereby declare under penalty of perjury under the laws of the State of Washington that the
foregoing is true and correct to the best of my knowledge.
EXECUTED at Port Townsend, Washington, this 24th day of July, 2025.
DONNA FROSTHOLM
CA received 07/29/25
EXHIBIT CA-27