HomeMy WebLinkAbout21 - Superior Avenue Pedestrian/Bicycle Bridge and Parking Lot Project - HandoutERRATA — Superior Avenue Pedestrian and Bicycle Bridge and Parking Lot
Project
The following errata is intended to correct minor errors and respond to additional comments received
after the drafting of the Final MND. Revisions are shown in strikeeat text and additional are
emboldened and underlined.
Superior Avenue Pedestrian and Bicycle Bridge and Parking Lot Project
Newport Beach, California
Section 4.4 Biological Resources
(c) Would the project have a substantial adverse effect on state or federally protected wetlands
(including but not limited to marsh, vernal pool, coastal, etc.) through direct removal, filling,
hydrological interruption, or other means?
Less than Significant Impact. There are no riparian/riverine areas, vernal pools, or waters of the
United States or State are present within the proposed Project footprint. Within the survey area
conducted for the jurisdictional delineation surveys, wetlands, as defined by the Coastal Act and the
City's LCP were identified both on and off the Project site.
Superior Avenue Wetlands
There is one distinct wetland area located off site within relatively close proximity to the Proposed
Project site, along the slope on the north side of Superior Avenue. The Superior Avenue wetland
area is approximately 115 feet from its closest point to the permanent structures of the proposed
bridge; and this wetland area impactbouR ary is approximately 0.15 -acre in size. Staging, worker
access, and vehicle movement would occur within the 100 -foot Abuff
er of the wetland
area; however, this activity would be similar to existing vehicular and pedestrian traffic in the
Project area.
Per Title 21, Section 21.30B.040.0 of the City of Newport Beach Local Coastal Program (LCP)
Implementation Plan:
C. Wetland Buffers. A protective open space buffer shall be required to horizontally
separate wetlands from development areas. Wetland buffers shall be of a sufficient size
to ensure the biological integrity and preservation of the wetland. Wetlands shall have a
minimum buffer width of one hundred (100) feet wherever possible.
1. Exception: Smaller wetland buffers may be allowed only where it can be
demonstrated that:
a. A one hundred (100) foot wide buffer is not possible due to site-
specific constraints; and
b. The proposed narrower buffer would be amply protective of the
biological integrity of the wetland given the site-specific characteristics
of the resource and of the type and intensity of disturbance."
The proposed bridge's permanent structures are outside of the 100 foot buffer from theThe
Superior Avenue wetlands is outside of the 190 feet bwf fe sem the r,4dge!5 „eFMGReM 5..,.Gt
Further, the existing wetlands are already surrounded by a variety of on-going disturbances,
primarily attributed to recreational and maintenance activities associated with the Sunset Ridge
Park above and immediately adjacent to the wetlands, as well as the pedestrian and vehicle traffic
adjoining the wetlands below. These on-going urban activities are less than 20 feet (and in some
cases only a few feet away) from the wetlands. In addition, the wetlands are upslope from the
proposed impact area, and moreover, the intensity of the bFidge nstr ctio., impbridge's
permanent structures would be strictly confined to the identified impact area, which would be
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Superior Avenue Pedestrion and Bicycle Bridge and Parking Lot Project
Newport Beoch, California
approximately 115 feet from the nearest point to the wetlands. Staging, worker access, and vehicle
movement would occur within the 100 -foot houn Gr-ypu er of the wetland area; however, this
activity would be similar to existing vehicular and pedestrian traffic in the Project area.
To further obviate concerns regarding any unforeseen impacts to the wetlands, the limits of the
wetlands will be clearly demarcated in the field prior to the commencement of construction
activities, and a biologist shall monitor the construction work to ensure that encroachment into the
wetlands does not occur. Also, the construction contractor should install a suitable barrier (e.g.,
snow fencing) that is clearly visible to construction personnel, particularly any construction
equipment operators, to prevent any incidental construction impacts to these jurisdictional wetland
areas.
Therefore, given the information above, it is reasonable to conclude that the proposed bridge
construction activities would not temporarily or permanently impact those wetlands nor jeopardize
the biological integrity or preservation of the wetlands.
Following its completion, the pedestrian and bicycle bridge over Superior Avenue is not expected to
create any adverse shading impacts to the existing wetlands identified upslope along the north side
of Superior Avenue because of the distance the bridge will be from the nearest point to the
wetlands (i.e., 115+ feet).
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Si-q)eriorAvenue Pedestrian and Bicycle Bridge and Parkinci Lot Project
Newport Beach, California
SECTION 7.0 — MITIGATED NEGATIVE DECLARATION
This document, along with the Draft Initial Study/Mitigated Negative Declaration; Mitigation Monitoring
and Reporting Program; and the Notice of Determination, constitute the Final Mitigated Negative
Declaration for the Superior Avenue Pedestrian/Bicycle Bridge and Parking Lot Project in the City of
Newport Beach.
Pursuant to Section 21082.1 of the California Environmental Quality Act, the City has independently
reviewed and analyzed the Initial Study and Mitigated Negative Declaration for the Proposed Project
and finds that these documents reflect the independent judgment of the City. The City of Newport
Beach, as lead agency, also confirms that the project mitigation measures detailed in these documents
are feasible and will be implemented as stated in the MND and MMRP.
Signature
Printed Name
Date
Title
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SoperiorAvenoe Pedestrian cnnd Bicycle Bridge incl Perking Lot Project
Newport Beach, California
Additional Response to Comments information
In response to comments received after the public comment period closed, we are providing
supplemental explanations below.
Burrowing Owls
For questions regarding the California Department of Fish and Wildlife (CDFW) comment letter, in our
Final MND and Response to Comments, we provided the CDFW with additional information regarding
why burrowing owl mitigation was determined to not be required. The CDFW was under the assumption
that the City did not include burrowing owl mitigation measures simply due to the fact that there was a
high level of disturbance in the area of the proposed Project. However, as noted in Response to
Comment 23-1, "The low -quality habitat located within the proposed Project site is composed primarily
of hard and compact soils and lacked the soft soils preferred by burrowing owl. No burrows were
observed, which are typically utilized by this species." In addition, during a habitat assessment and
vegetation mapping, delineation surveys, and focused surveys for California gnatcatcher, when
biologists were onsite for over 20 hours in total, no burrowing owl or signs of burrowing owl were
observed. It is for these reasons that additional protocol -level surveys for burrowing owl are not
required in order to assess site suitability for the species.
Coastal Sage Scrub
The proposed project will include ground disturbance and indirect impacts within the 5.15 -acre CSS
planting area within Sunset Ridge Park. The CSS planting was required as a special condition of the
Sunset Ridge Park CDP (Special Condition 2.1.a). The special condition included in the CDP is not
considered mitigation, nor was this area previously used as a mitigation site. Special conditions
associated with the CDP are not equivalent to mitigation lands and requirements associated with
mitigation lands do not apply to these areas.
California Department of Transportation Conditions
The California Department of Transportation (DOT) submitted a comment letter that outlined Caltrans
requirements. Since these will be conditions of approval as part of the Caltrans permit approval process,
it is not required that these be included as mitigation measures in the Final MND. Additionally, since
mitigation measures are only required for significant impacts per CECI.A, mitigation is not required for
transportation impacts.
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