HomeMy WebLinkAbout15 - Newport Airport Village Planned Community Development Plan (PA2014-225) - CorrespondenceL
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SOUTHERN CALIFORNIA PILOTS ASSOCIATION
September 21, 2020
City of Newport Beach City Council and Planning Commission
100 Civic Center Drive
Newport Beach, CA 92660
Received After Agenda Printed
September 22, 2020
Item No. 15
Re: Comments on the proposed Newport Airport Village - Residential component
The undersigned represent the So Cal Pilots Association. SoCal Pilots has membership of
over 1,200 individual pilots and aircraft owners.
Although the Newport Airport Village provides a much-needed improvement to the
business complex along Campus avenue the residential component of the project is
incompatible with the surrounding use. In fact, it is illogical to place residential housing
this close to a commercial airport. As pilots we spend a lot of time just across the street
from this project at our hangars and tie downs. We have first-hand experience with the
intensity of the noise and dust associated with the airport. If people are allowed to live
this close to the airport, regardless of which side of the 65 CNEL line they are on, they will
be very unhappy with their environment. Therefore, as people who experience this level
of noise firsthand, to access our aircraft, we know what it is like and fully support the
recommendations of the Airport Land Use Commission which advise against a residential
component to this project so close to the airport.
Recommendation:
The City Council and Planning Commission should find the proposed General Plan
Amendment and Zoning Change for the Newport Airport Village Inconsistent with the
ALUC for JWA per:
1. Section 2.1.1 Aircraft Noise that the "aircraft noise emanating from airports may be
incompatible with general welfare of the inhabitants within the vicinity of an
airport."
2. Section 2.1.2 Safety Compatibility Zones in which "the purpose of these zones is to
support the continued use and operation of an airport by establishing
compatibility and safety standards to promote air navigational safety and to
reduce potential safety hazards for persons living, working or recreating near
JWA."
3. Section 2.1.3 Building Height Restrictions which states that the results of an
aeronautical study conducted by the FAA... will be utilized to help determine if a
structure will have an adverse effect un the airport or on aeronautical operations."
The Aeronautical study provided was for structures 124 feet AMSL, while the
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AL .•
a• PILc)Ts
SOUTHERN CALIFORNIA PILOTS ASSOCIATION
General Plan Amendment and Development indicate the maximum height would
be 129 feet AMSL.
4. Section 2.1.4, and PUC Section 21674 which state that the Commission is charged
by PUC Section 21674(a) "to assist local agencies in ensuring compatible land uses
in the vicinity of ...existing airports to the extent that the land in the vicinity of those
airports is not already devoted to incompatible uses," and PUC Section 2 1674(b)
"to coordinate planning at the state, regional and local levels so as to provide for
the orderly development of air transportation, while at the same time protecting
the public health safety and welfare".
Moreover, if the ALUC recommendations are overruled, there is likely to be significant
liability and cost to the City, County and Developer. The occupants of this property will
be subject to an intolerably noisy environment which will violate the right to quiet
enjoyment as well as other basic tenant protections. Additionally, if the City of Newport
Beach declines to properly study and mitigate interferences with aeronautical operations
at JWA, that will increase the likelihood of an investigation by the FAA. The FAA has set
the precedent of requiring structures to be de -constructed which interfere with
aeronautical navigation.
While we fully support the commercial aspect of this development, the So Cal Pilots urge
the City of Newport Beach to respect the sound judgement of the ALUC and not subject
future residents to this highly incompatible land use.
Sincerely,
Stephen Blythe, President of SoCal Pilots
Cc: City Clerk cityclerk@newportbeachca.gov
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• A
freedomyour
September 22, 2020
50 F St. NW, Suite 750
Washington, D.C. 20001
T. 202-737-7950
F. 202-273-7951
www.aopa.org
The Hon. Will O'Neill, Mayor
City of Newport Beach
100 Civic Center Drive
Newport Beach, CA 92660
Received After Agenda Printed
September 22, 2020
Item No. 15
RE: Ordinance Nos. 2020-22 and 2020-23: Newport Airport Village Planned Community
Development Plan
Dear Mayor O'Neill and Members of the City Council,
The Aircraft Owners and Pilots Association (AOPA) is the world's largest general aviation
association with nearly 330,000 members, including over 32,000 members in California. On
behalf of our members, I am writing to urge the city council to vote no on Ordinances 2020-22
and 2020-23, and on Resolutions 2020-83 and 2020-84.
The city council has been fully informed by the Orange County Airport Land Use Commission
(ALUC), and others, of the many reasons why the Newport Airport Village Planned Community
Development Plan is incompatible with John Wayne Airport. In a July letter, the ALUC cited
several sections of the Airport Environs Land Use Plan for John Wayne Airport, specifically:
GL
1. Section 2.1.1 Aircraft Noise that the "aircraft noise emanating from airports may be
incompatible with general welfare of the inhabitants within the vicinity of an airport."
2. Section 2.1.2 Safety Compatibility Zones in which "the purpose of these zones is to
support the continued use and operation of an airport by establishing compatibility and
safety standards to promote air navigational safety and to reduce potential safety
hazards for persons living, working or recreating near JWA."
3. Section 2.1.3 Building Height Restrictions which states that the results of an aeronautical
study conducted by the FAA... will be utilized to help determine if a structure will have
an adverse effect on the airport or on aeronautical operations." The Aeronautical study
provided was for structures 124 feet AMSL, while the General Plan Amendment and
Development indicate the maximum height would be 129 feet AMSL.
4. Section 2.1.4, and PUC Section 21674 which state that the Commission is charged by
PUC Section 21674(a) "to assist local agencies in ensuring compatible land uses in the
vicinity of ...existing airports to the extent that the land in the vicinity of those airports is
not already devoted to incompatible uses," and PUC Section 2 1674(b) "to coordinate
planning at the state, regional and local levels so as to provide for the orderly
development of air transportation, while at the same time protecting the public health
safety and welfare". "
Today's vote may be the final opportunity for the city council to stop this incompatible project
from moving forward. Orange County, as the sponsor for the airport, is responsible for ensuring
compatible land use around the airport in places where they have such authority. The county
will become burdened with new noise complaints and potential liability if residential housing is
constructed at this location. The county is relying on their strong partnership with Newport
Beach to help maintain land use compatibility near the airport. Again, I urge you to vote no on
Ordinances 2020-22 and 2020-23, and on Resolutions 2020-83 and 2020-84.
Thank you for your attention to this important matter. If I may be of further assistance, please
contact me at 202-609-9702 or adam.williams@aopa.org.
Sincerely,
Adam Williams
Manager, Airport Policy
CC:
Newport Beach City Council
AIRCRAFT OWNERS AND PILOTS ASSOCIATION