Press Alt + R to read the document text or Alt + P to download or print.
This document contains no pages.
HomeMy WebLinkAbout2022-60 - Amending and Re-Adopting the 6th Cycle Housing Element for the 2021-2029 Period as General Plan Amendment No. GP2021-005 (PA2017-141)RESOLUTION NO. 2022-60
A RESOLUTION OF THE CITY COUNCIL OF THE CITY
OF NEWPORT BEACH, CALIFORNIA, AMENDING AND
RE -ADOPTING THE 6T" CYCLE HOUSING ELEMENT
FOR THE 2021-2029 PERIOD AS GENERAL PLAN
AMENDMENT NO. GP2021-005 (PA2017-141)
WHEREAS, Section 65580 et seq. of the California Government Code ("State
Housing Element Law") requires each city and county to adopt a housing element that
identifies and analyzes existing and projected housing needs within their jurisdiction and
prepare goals, policies, and programs, and quantified objectives to further the development,
improvement, and preservation of housing;
WHEREAS, the Housing Element is one of the mandatory elements of the
Newport Beach General Plan that must be periodically updated in accordance with State
Housing Element Law;
WHEREAS, the 6t" Cycle Housing Element covering the 2021-2029 period ("6th
Cycle Housing Element") presents a framework for meeting the housing needs of existing
and future resident populations within the City of Newport Beach ("City") based on the
Regional Housing Needs Assessment ("RHNA") allocation of 4,845 new housing units;
WHEREAS, the City conducted extensive public outreach activities starting in
2019 with the Newport Together, a Listen & Learn process, to guide and inform a future
General Plan Update to hear from a broad spectrum of community members on
community values, assess the current General Plan Vision, and provide
recommendations for a future General Plan Update;
WHEREAS, Newport Together was guided by the General Plan Update Steering
Committee, a body appointed by the City Council to oversee seven Listen & Learn
community meetings, which provided information for the Housing Element update
process;
WHEREAS, the City Council created a citizens advisory committee called the
Housing Element Update Advisory Committee ("HEUAC") to assist in the preparation of
the 6t" Cycle Housing Element in order to: (1) ensure sufficient public outreach and
stakeholder input, (2) provide guidance to City staff, and consultants, on goals and
policies, and (3) make recommendations to the City Council regarding the 6t" Cycle
Housing Element;
Resolution No. 2022-60
Page 2 of 12
WHEREAS, nine residents were appointed to the HEUAC based upon their
professional expertise in housing development including affordable housing, general real
estate development, construction, and law;
WHEREAS, the HEUAC formed five different subcommittees to thoroughly review
and identify all feasible sites for potential residential redevelopment to meet the City's
RHNA that are captured in Appendix B (Adequate Sites Analysis) of the 6th Cycle Housing
Element, which is attached hereto as Exhibit 'A" and incorporated herein by reference;
WHEREAS, on August 13, 2021, the City submitted the Draft 6th Cycle Housing
Element to the California Department of Housing and Community Development ("HCD") for
a 60-day statutory review;
WHEREAS, on September 28, 2021, Governor Gavin Newsom signed Assembly
Bill 1398 ("AB 1398") which, in pertinent part, changed the penalty for not adopting an HCD-
certified housing element within 120 days of the statutory deadline of October 15, 2021;
WHEREAS, on October 12, 2021, HCD provided written comments that are
included in Exhibit "B" which is attached hereto and incorporated by reference to the City on
the Draft 6th Cycle Housing Element which required revisions;
WHEREAS, on November 16, 2021, the City Council held a study session in the
Council Chambers at 100 Civic Center Drive, Newport Beach wherein City staff presented
a revised Draft 6th Cycle Housing Element that incorporated and addressed written
comments provided by HCD, which are summarized in Exhibit T." A notice of time, place
and purpose of the hearing was given in accordance with California Government Code
Sections 54950 et seq. ("Ralph M. Brown Act") and 65353, and City Council Policy K-1
(General Plan and Local Coastal Program) ("Council Policy K-1"). Evidence, both written
and oral, was presented to, and considered by, the City Council at this hearing;
WHEREAS, at the conclusion of the hearing, the City Council authorized the
submittal of the revised Draft 6th Cycle Housing Element to HCD for a second review;
WHEREAS, on November 17, 2021, the HEUAC held a public meeting, in the
Council Chambers at 100 Civic Center Drive, Newport Beach. Evidence, both written and
oral, was presented to, and considered by, the HEUAC at this hearing;
WHEREAS, at the conclusion of the hearing, the HEUAC voted to recommend
City Council approval of the revised Draft 6th Cycle Housing Element and further
recommended City Council authorize any other changes deemed necessary by HCD;
Resolution No. 2022-60
Page 3 of 12
WHEREAS, on November 17, 2021, the revised Draft 6th Cycle Housing Element
was submitted to HCD for a second 60-day statutory review;
WHEREAS, in consideration of the accelerated timing required by AB 1398, the
Planning Commission held a public hearing on December 9, 2021, in the Council Chambers
at 100 Civic Center Drive, Newport Beach. A notice of time, place and purpose of the
hearing was given in accordance with the Ralph M. Brown Act, Government Code Section
65353, and Council Policy K-1. Evidence, both written and oral, was presented to, and
considered by, the Planning Commission at this public hearing,
WHEREAS, at the conclusion of the hearing, the Planning Commission adopted
Resolution No. PC2021-034 recommending to the City Council approval of the revised
Draft 6th Cycle Housing Element through General Plan Amendment No. GP2021-005 (5
ayes, 1 recusal, and 1 absent);
WHEREAS, on January 14, 2022, HCD provided written comments that are
included in Exhibit "C" which is attached hereto and incorporated by reference that required
further revisions to the Draft 6th Cycle Housing Element;
WHEREAS, on January 25, 2022, the City Council held a study session in the
Council Chambers at 100 Civic Center Drive, Newport Beach wherein City staff sought
additional direction based upon additional comments provided by HCD. A notice of time,
place and purpose of the hearing was given in accordance with the Ralph M. Brown Act,
Government Code Section 65353, and Council Policy K-1. Evidence, both written and
oral, was presented to, and considered by, the City Council at this study session;
WHEREAS, at the conclusion of the study session, the City Council provided
direction to City staff to exclude the approximately 1,485 residential units from Banning
Ranch intended to meet the City's RHNA allocation but include Banning Ranch in the
City's opportunity Sites Inventory;
WHEREAS, the City Council held a public hearing on February 8, 2022, in the
Council Chambers at 100 Civic Center Drive, Newport Beach. A notice of time, place and
purpose of the hearing was given in accordance with the Ralph M. Brown Act,
Government Code Section 65353, California Public Utilities Code Section 21676(b), and
Council Policy K-1. Evidence, both written and oral, was presented to, and considered
by, the City Council at this public hearing;
Resolution No. 2022-60
Page 4 of 12
WHEREAS, at the conclusion of the public hearing, the City Council unanimously
adopted Resolution Nos. 2022-13 and 2022-14 overriding the Orange County Land Use
Commission's determination that the 61h Cycle Housing Element is inconsistent with the
2008 John Wayne Airport Environs Land Use Plan and adopting the 6th Cycle Housing
Element for the period 2021-2029 as General Plan Amendment No. GP2021-005;
WHEREAS, on February 11, 2022, the 6th Cycle Housing Element was submitted
to HCD for a 60-day certification review;
WHEREAS, on April 11, 2022, HCD provided written comments to the City on the
6th Cycle Housing Element;
WHEREAS, City staff collaborated with HCD during the 60-day review period
including revisions on June 21, 2022, that were transmitted to HCD on June 28, 2022, along
with mid -review revisions that were made on August 16, 2022 that are included in Exhibit
"D," which is attached hereto and incorporated herein by reference;
WHEREAS, on June 30, 2022, Governor Gavin Newsom signed Senate Bill 197
("SB 197") which, in pertinent part, extended the deadline for adopting an HCD-certified
housing element from October 15, 2021 to October 15, 2022; and
WHEREAS, on September 13, 2022, a public hearing was held in the Council
Chambers at 100 Civic Center Drive, Newport Beach. A notice of time, place and purpose
of the hearing was given in accordance with the Ralph M. Brown Act, Government Code
Section 65353, and Council Policy K-1. Evidence, both written and oral, was presented
to, and considered by, the City Council at this public hearing.
NOW, THEREFORE, the City Council of the City of Newport Beach resolves as
follows:
Section 1: The City Council does hereby approve General Plan Amendment
No. GP2021-005 amending and re -adopting the 6th Cycle Housing Element covering the
period 2021-2029 which is attached hereto as Exhibit "A," and incorporated herein by
reference. The City Council directs staff to transmit the adopted 6th Cycle Housing
Element to HCD for certification.
Section 2: The City Council finds that, since October 2019, the City engaged in
a robust discussion with the public regarding the 6th Cycle Housing Element including,
holding 13 community workshops, 14 publicly noticed HEUAC meetings, one Planning
Commission study session, one Planning Commission public hearing, seven City Council
study sessions, and one City Council public hearing where the 6th Cycle Housing Element
was publicly reviewed and discussed.
Resolution No. 2022-60
Page 5 of 12
Section 3: In compliance with Government Code Section 65585(e), the City
Council considered the findings and recommendations set forth in HCD's letters dated
October 12, 2021, January 14, 2022, and April 11, 2022, respectively, which determined,
in part, that the Draft 6th Cycle Housing Element required revision to substantially comply
with State Housing Element Law. In accordance with Government Code Section
65585(f)(1), the 6th Cycle Housing Element was revised to incorporate HCD's required
changes and comments as summarized in Exhibits "B," "C," and "D" which are attached
hereto and incorporated herein by reference in substantial compliance with State Housing
Element Law. The City's compliance with Government Code Section 65585(e) is further
substantiated by HCD's August 24, 2022 letter indicating the 6th Cycle Housing Element
meets the statutory requirements of State Law, which is attached hereto as Exhibit "E"
and incorporated herein by reference.
Section 4: The City Council finds that pursuant to Government Code Section
65583.2(g)(2), based on substantial evidence set forth in Section 4 (Housing Plan) and
Appendix B (Sites Suitability Analysis) of the Housing Element, the existing uses identified
to accommodate affordable housing are likely to be discontinued during the planning
period, and therefore do not constitute an impediment to additional residential
development during the period covered by the Housing Element. This finding is based, in
part, upon the following, which sets forth the comprehensive review of all possible
opportunities for additional residential development that can accommodate affordable
housing during the planning period considered by the City including, but not limited to,
work by the HEUAC, which was created by the City Council and was comprised of experts
in housing development as detailed in Exhibit "F" including affordable housing, general
real estate development, construction, and law. In reviewing these possible residential
opportunities, the HEUAC used a set of guiding principles to determine if each of those
areas and their individual traits support a likelihood for redevelopment, as noted below.
A. Determination of Focus Areas: Based upon the parameters set forth in the
State Housing Element Law, the criteria developed during the Newport Together outreach
process, feedback from stakeholders, utilization of the Sag's GIS-Based HELPR Tool and
further refinement by the HEUAC, the following focus areas were identified to
accommodate the City's RHNA allocation:
• Airport Area;
• West Newport;
• Dove r-Westcliff;
• Newport Center;
• Coyote Canyon; and
• Banning Ranch.
Resolution No. 2022-60
Page 6 of 12
B. HEUAC Methodology: Within each Focus Area, HEUAC subcommittees
assigned each parcel within the Focus Area a feasibility rating ("Infeasible", "Potentially
Feasible", or "Feasible") -- analyzing the parcel's propensity for redevelopment during the
planning period as follows:
• "Feasible" are those sites that appear that they could feasibly be
redeveloped for housing or have housing added to the parcel while the current use
remains in whole or in part.
• "Potentially Feasible" are those sites that may work as housing, but due
to the size and/or configuration of a parcel, or the quality and functionality of existing
improvements, a parcel might be somewhat less likely to be a candidate for a housing
use. Potentially Feasible sites may also include parcels that would be infeasible standing
alone, but if combined with adjacent the parcel(s) could become part of a potential
housing site.
• "Infeasible" are those sites that the subcommittee(s) determined would
not work as housing due to existing improvements on the site; insufficient size;
inefficiencies due to the configuration of the parcel; whether active construction was
recently completed, in progress, received land use entitlements and/or pending
completion of land use entitlements; and/or fully leased commercial developments.
All nonresidential sites that were deemed Feasible or Potentially Feasible were
included in the Sites Inventory, except those sites whose owners expressly requested
that their properties not be considered opportunity sites. Therefore, the City does not
foresee the opportunity to potentially add additional sites to the Sites Inventory since all
Feasible or Potentially Feasible sites have already been included.
In conjunction with existing site uses and activities, each site was also evaluated
considering factors such as:
features; and
• Access to schools and jobs;
• Access to parks, services, health care facilities and grocery stores;
• Proximity to infrastructure and utilities;
• Likelihood or redevelopment and reuse;
• Project feasibility based on existing site conditions and development
• Funding/Financing and feasibility considerations.
C. Infeasible Sites: Parcels with existing uses that were not likely to be
discontinued during the 6t" Cycle Housing Element were generally removed. The list of
Infeasible Sites include the following:
Resolution No. 2022-60
Page 7 of 12
• Parcels in the Balboa Peninsula environs;
• Parcels in Corona del Mar environs;
• Parcels in Newport Coast environs;
• Parcels with known historic resources;
• Parcels that are under construction, or have recently completed
projects, approved entitlements, or pending entitlements for commercial uses only;
• Parcels that have unique land uses that will preclude future residential
development, such educational institutions, infrastructure facilities, federal and state
facilities, entertainment venues, hospitals, cemeteries, parks and open space, and other
similar facilities and activities; and
• Parcels currently developed with affordable housing or special needs
housing.
D. Final Determination of Sites Inventory: The Sites Inventory is directly
supported by evidence that existing uses will not impose an impediment to the
development of residential, in whole or part, on existing non-residential sites during the
2021-2029 planning period. Final determination of housing sites was established utilizing
the following criteria:
• Identification of Sites with a Realistic Potential to Redevelop During the
Planning Period — the Housing Element identified only sites that adhered to the criteria
established at the beginning of the planning process. Supported by demonstrated
features of recent development activity in the Focus Area and utilization of site selection
criteria that provide sound analysis of site feasibility, the 6th Cycle Housing Element
identified only sites which can be realistically assumed to have the highest level of
redevelopment potential during the 2021-2029 planning period.
• Identification of Sites that would be Physically Able to Accommodate
Housing in Place of or in Addition to Existing Uses — The 6th Cycle Housing Element
identifies sites that would physically be able to accommodate housing. Therefore, all sites
identified have been evaluated for their ability to feasibly accommodate housing units
based on site features, existing development, and other site constraints.
• Sites Identification Vetted During the Public Process — The sites
identified in Appendix B of the 6th Cycle Housing Element are based upon collaboration
with stakeholders throughout the planning process to ensure local concerns were
addressed, sensitive sites were properly evaluated, and preliminary sites were made
available to the public for review and discussion. Those candidate sites that could not
meet all criteria were removed from the Sites Inventory.
Resolution No. 2022-60
Page 8 of 12
• Sites Inventory Feasibility Based on and Supported by Local Examples
that Demonstrate Sites can be Developed at Proposed Densities and Affordability — The
6th Cycle Housing Element bases project feasibility and capacity assumptions based on
actual local projects constructed, under construction or in the entitlement process. The
6t" Cycle Housing Element compares actual development opportunities within each Focus
Area to provide a realistic assessment of the opportunities and constraints of developing
at proposed densities and affordability levels. The 6t" Cycle Housing Element Sites
Inventory include sites that possess the ability to accommodate residential development.
The local project examples are provided in the discussion for each Focus Area in
Appendix "B" of the 6t" Cycle Housing Element.
E. Focus Area Sites: The candidate Sites Inventory was based on the
evidence that the sites have low assessors value ratio ("AVR") (less than 0.5), are
developed with low -scale buildings more than 40 years of age, are developed below
current maximum FAR allowed, are in proximity to many other recent housing projects in
the areas, and have been previously identified as high potential for redevelopment.
• Airport Area - Airport Area Environs candidate sites provide substantial
evidence that existing development is not an impediment to accommodating housing
during the 2021-2029 planning period. As identified by the HEUAC, there are many
parcels with underutilized surface parking lots and others with aged office buildings that
are not fully leased. The development of higher -density residential units within this focus
area can be expected to accommodate lower -income units. Increasing density within the
Airport Area was also a key strategy as part of the City's 4th and 5th Cycle Housing
Element Updates. As a result, high -density developments such as Phase 1A of the
Uptown Newport Apartments have been made possible. This development achieved a
density of 56 du/acre and provided about 91 units of Low- and Very Low -Income housing
in the City.
The City received 44 interest letters from property owners in the area expressing
a desire to pursue residential opportunities within the Airport Area. Additionally, the City
approved four residential projects with two additional residential projects pending within
the Airport Area environs. Further evidence of residential development on existing non-
residential sites is shown in Table B-9 of the 6th Cycle Housing Element.
• Newport Center - Newport Center candidate sites provide substantial
evidence that existing development is not an impediment to accommodating housing
during the 2021-2029 planning period. Second to the Airport Area, Newport Center has
experienced substantial redevelopment in recent years and, thus, displays a likelihood of
further redevelopment in the planning period. Most recently, the Villas Fashion Island
Resolution No. 2022-60
Page 9 of 12
project was completed resulting in 524 new apartment units, and the Residences at
Newport Center along with the Vivante Senior Residential project have been approved.
The recent construction of these units adjacent to major employment opportunities and
supportive retail further support the likelihood, feasibility, and transition of non-residential
uses to residential uses in the planning period. The City received 26 interest letters from
property owners in this area expressing a desire to pursue residential redevelopment
opportunities.
• West Newport Mesa - West Newport candidate sites provide substantial
evidence that existing development is not an impediment to accommodating housing
during the 2021-2029 planning period. The West Newport Mesa area has many older
industrial and small-scale office properties in addition to one of the City's largest
employers, Hoag Hospital. As a result, West Newport Mesa is identified as a reinvestment
and redevelopment opportunity, where older industrial, smaller -scale development can
transition to support future residential development. Supportive evidence that existing
uses do not impose and impediment on the development of housing include recent
development trends in this focus area. These include the development of condominiums
on previously non-residential uses, and development of mobile home spaces on sites with
non-residential uses. The City received six interest letters from property owners in this
area expressing a desire to pursue residential redevelopment opportunities.
• Dover-Westcliff - Dover-Westcliff candidate sites provide substantial
evidence that existing development is not an impediment to accommodating housing
during the 2021-2029 planning period. This area includes Dove r-Westcliff, portions of
Mariner's Mile and the northwestern portion of the Balboa Peninsula. While the Dover-
Westcliff area is generally characterized by smaller coastal lots, the City has seen
development in recent years with completion of the Lido Villas Project, approval of the
West Coast Highway Mixed -Use project, and applications for Newport Village Mixed -Use
and Via Lido Plaza Redevelopment. The City received 14 interest letters from property
owners in this area expressing a desire to pursue residential redevelopment
opportunities.
• Coyote Canyon - Coyote Canyon candidate sites provide substantial
evidence that existing development is not an impediment to accommodating housing
during the 2021-2029 planning period. The City received specific outreach for two parcels,
both of which are reflected within the Sites Inventory. Of primary note is the closed Coyote
Canyon landfill and adjacent areas. The parcel is owned by the County of Orange who
has entered into an agreement with Tait and Associates for the future development. Both
Tait and the County of Orange expressed interest in developing the site with affordable
and market rate housing. Therefore, the City considers the expressed interest by both
owner and developer as substantial evidence supporting the assumption that existing site
Resolution No. 2022-60
Page 10 of 12
conditions and activities are not an impediment of the accommodation of housing during
the 2021-2029 planning period.
F. Banning Ranch - The Draft 6th Cycle Housing Element initially proposed
approximately 1,475 units within Banning Ranch. However, based upon HCD's comment
letters, the 6t" Cycle Housing Element no longer includes any units within Banning Ranch
to meet the City's RHNA allocation, therefore, needs no further justification. Banning
Ranch is simply being included in the opportunity Sites Inventory.
Section 5: The recitals provided in this resolution are true and correct and are
incorporated into the operative part of this resolution.
Section 6: If any section, subsection, sentence, clause, or phrase of this
resolution is, for any reason, held to be invalid or unconstitutional, such decision shall not
affect the validity or constitutionality of the remaining portions of this resolution. The City
Council hereby declares that it would have passed this resolution, and each section,
subsection, sentence, clause, or phrase hereof, irrespective of the fact that any one or
more sections, subsections, sentences, clauses, or phrases be declared invalid or
unconstitutional.
Resolution No. 2022-60
Page 11 of 12
Section 7: The adoption of this 6th Cycle Housing Element is not a project under
the California Environmental Quality Act ("CEQA") pursuant to Section 15061(b)(3) of the
California Code of Regulations, Title 14, Division 6, Chapter 3 ("CEQA Guidelines"), the
common-sense exemption because it involves policies, programs, and actions to meet
the City's RHNA allocation that would not cause a significant effect on the environment.
Moreover, the 6th Cycle Housing Element is statutorily exempt under Section 15262 of
the CEQA Guidelines, which exempts projects involving feasibility or planning studies for
future actions which the City has not approved or funded. Section 423 of the Charter and
Council Policy A-18 require any amendment to the General Plan be reviewed to
determine if a vote of the electorate would be required. If a project includes a general plan
amendment, and, separately or cumulatively with other projects over a 10-year span,
exceeds more than 100 additional peak hour trips (a.m. or p.m.), adds 40,000 square feet
or more of non-residential floor area or adds more than 100 dwelling units in a statistical
area, a vote of the electorate is required. The 6th Cycle Housing Element adds at least
100 dwelling units in several statistical areas; therefore, voter approval of amendments
to the Land Use and other elements of the General Plan along with the Zoning Code will
be required to implement the 6th Cycle Housing Element. As a result, the 6th Cycle
Housing Element is a policy document and does not provide development entitlements to
any specific land use projects, nor does it make any changes to the General Plan land
use map or modify land use designations, densities, or land use intensities. Other similarly
situated cities with voter -adopted growth initiatives have not been alleviated, either
through State Legislation or judicial determination, of their obligations to comply with the
voter initiative process. Given the nature and scope, the 6th Cycle Housing Element
programs and policies would not result in physical environmental impacts. Future housing
development pursuant to the 6th Cycle Housing Element would be subject to compliance
with the established regulatory framework, including federal, state, regional, and local
regulations. To this end, the City Council adopted Resolution No. 2022-2 creating the
General Plan Update Steering Committee to effectuate the updates to the General Plan
required by adoption of the 6th Cycle Housing Element.
Section 8: The City Council hereby authorizes staff to make non -substantive
changes to the 6th Cycle Housing Element as necessary to make it internally consistent
or address additional comments from HCD. Should HCD require substantive changes -to
the 6th Cycle Housing Element adopted herein, staff shall bring such changes back to City
Council for review and action.
Resolution No. 2022-60
Page 12 of 12
Section 9: This resolution shall take effect immediately upon its adoption by the
City Council, and the City Clerk shall certify the vote adopting the resolution.
ADOPTED this 13th day of September, 20,'
ATTEST:
1/ I c
City Clerk
�F0 RtNi
APPROVED AS TO FORM:
CITY ATTORNEY'S OFFICE
ar n C. Harp
City Attorney
Mayor
Attachment(s): Exhibit A — Final 6t" Cycle Housing Element for the 2021-2029 Period
Exhibit B — Summary of City's Revisions to the 6t" Cycle Housing
Element Following HCD's October 12, 2021, Letter
Exhibit C — Summary of City's Revisions to the 6t" Cycle Housing
Element Following HCD's January 14, 2022, Letter
Exhibit D — Summary of City's Revisions to the 6t" Cycle Housing
Element Following HCD's April 11, 2022, Letter
Exhibit E — HCD's August 24, 2022, Letter
Exhibit F — HEUAC Member Resumes
EXHIBIT A
6th Cycle Housing Element for the 2021-2029 Period
Exhibit A is viewable here: www-newportbeachca_gov/HEUpdate
18-19
City of Newport Beach
2021-2029 HOUSING ELEMENT
xiolowm"�-P-2-4v
City of Newport Beach
2021-2029 HOUSING ELEMENT
City of Newport Beach
HOUSING ELEMENT
2021-2029
City of Newport Beach
2021-2029 HOUSING ELEMENT
section 1: Introduction
A. Role of the Housing Element.......................................................................................................................................1-1
B. State Policy and Authorization....................................................................................................................................1-1
1.
Background..........................................................................................................................................................1-2
2.
State Requirements............................................................................................................................................1-2
3.
Regional Housing Needs Assessment................................................................................................................
1-4
4.
Relationship to Other Community Plan Elements...........................................................................................1-4
5.
Public and Stakeholder Participation...............................................................................................................1-5
6.
Data Sources.....................................................................................................................................................1-6
7.
Housing Element Organization............................................................................................................................
1-7
Section 2: Community Profile
A.
Population Characteristics.......................................................................................................................................2-1
1.
Population Growth..............................................................................................................................................2-1
2.
Age Characteristics..............................................................................................................................................2-2
3.
Race/Ethnicity Characteristics............................................................................................................................2-3
B.
Economic Characteristics.........................................................................................................................................2-5
1.
Employment and Wage Scale.............................................................................................................................
2-5
C.
Household Characteristics.......................................................................................................................................
2-9
1.
Household Type and Size....................................................................................................................................
2-9
2.
Household Income............................................................................................................................................2-11
D.
Housing Problems...................................................................................................................................................2-14
1.
Overcrowding....................................................................................................................................................
2-15
2.
Overpayment (Cost Burden) In Relationship to Income................................................................................2-16
E.
Special Needs Groups.............................................................................................................................................2-18
1.
Seniors................................................................................................................................................................2-18
2.
Persons with Physical and Developmental Disabilities..................................................................................2-20
3.
Large Households..............................................................................................................................................2-24
4.
Single -Parent Households.................................................................................................................................2-25
5.
Farmworkers......................................................................................................................................................2-26
6.
Extremely Low-income Households and Poverty Status................................................................................2-27
7.
Persons Experiencing Homelessness...............................................................................................................2-31
8.
Students.............................................................................................................................................................2-33
Table of Contents (DRAFTJANUARY 2022) ii
������ �*� N�NN����0����� ����������
n�'N��� ��N Newport ���°~=-�NN
20 21 -2 02 9 HOUSING ELEMENT
F.Housing Stock Characte_----'_'.....................................................
1. Housing Growth ................................................................................................................................................ 2-33
2. Housing Type ..................................................................................................................................................... 2'34
3. Housing Availability and Tenure ....................................................................................................................... Z-34
4. HousingAgeand Condition .............................................................................................................................. Z'36
S. Housing Costs and Affordability ....................................................................................................................... 2-39
Section 3: Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing
A.
Nongovernmental Constraints ................................................................................................................................ 3'1
1.
Land Costs and Construction Costs ....................................................................................................................
3'1
2.
Availability Financing ..........................................................................................................................................
J'Z
3.
Economic Constraints .........................................................................................................................................
3'3
B.
Governmental Constraints .--------------------------------------------'3-4
1.
Land Use Controls ...............................................................................................................................................
3-4
2.
infrastructure Constraints ................................................................................................................................
3'47
3.
Environmental Constraints ...............................................................................................................................
3-54
C.
Affirmatively Furthering Fair Housing (AFFH).......................................................................................................
3-S8
1.
Affirmatively Furthering Fair Housing ..............................................................................................................
3`S8
2.
Summary ofLocal Data ........................................................................................................................................
3'59
3.
Analysis ofFederal, State, and Local Data and Local Knowledge
.................................................................. 3'6I
4.
Analysis ofSites Pursuant toA86Q6...............................................................................................................
3'119
5.
Analysis ofFair Housing Priorities and Goals ..................................................................................................
3-l3U
D.
Housing Resources .................................................................................................................................................
3'130
1.
Regional Housing NeedsAJ|ocaton.................................................................................................................
3'13U
2.
Financial Resources ...........................................................................................................................................
3-139
3.
Opportunities for Energy Conservation ...........................................................................................................
3'141
A.Regional Housing Needs Assessment ......................................................................................................................... 4-1
1.
Housing Goals ...................................................................................................................................................... 4-1
2.
Housing Policies and Program Actions ..............................................................................................................
4-2
Table of Contents (September 2022 Final Housing Element)
ta'.'l i I •
-w
a
NiAh
i
Z��
City of Newport Beach
2021-2029 HOUSING ELEMENT
Acknowledgments
The Newport Beach Community
City Council
Mayor Kevin Muldoon
Mayor Pro Tern Noah Blom
Diane B. Dixon
Brad Avery
Duffy Duffield
Joy Brenner
Will O'Neill
Planning Commission
Lee Lowrey, Chair
Lauren Kleiman, Vice Chair
Curtis Ellmore, Secretary
Sarah Klaustermeier
Peter Koetting
Mark Rosene
Erik Weigand
General Plan Update Steering Committee
Nancy Gardner, Chair
James Carlson
Catherine O'Hara
Ed Selich
Debbie Stevens
Larry Tucker
Paul Watkins
Then -Mayor Diane Dixon, Ex-Officio Member
,_-
Housing Element Update Advisory
Committee
Larry Tucker, Chair
Jeff Bloom
Susan DeSantis
Paul Fruchbom
Beth Kiley
Geoffrey LePlastrier
Stephen Sandland
Debbie Stevens
Michelle Thrakulchavee
Councilmember Will O'Neill, Ex-Officio Member
City Staff
Grace Leung, City Manager
Seimone Jurjis, Community Development
Director
Jim Campbell, Deputy Community Development
Director
Jaime Murillo, Principal Planner
Benjamin Zdeba, Principal Planner
Dan Campagnolo, Systems Administrator
Aaron Harp, City Attorney
Yolanda Summerhill, Assistant City Attorney
Tony Brine, City Traffic Engineer
Consultants
Kimley-Horn and Associates, Inc.
Kearns & West, Inc.
Section 1: Introduction (September 2022 Final Housing Element) 1-1
City of Newport Beach
2021-2029 HOUSING ELEMENT
The Housing Element of the Newport Beach General Plan identifies and analyzes the City's existing and
projected housing needs and contains a detailed outline and work program of the City's goals, policies,
quantified objectives, and programs for the preservation, improvement, and development of housing for
a sustainable future. It is one of the seven mandatory elements to be included in a city's General Plan. The
policy program identifies ways in which housing needs of current and future residents can be met. It also
ensures that the City establishes policies, procedures and incentives in its land use planning and
development activities to address the maintenance and expansion of the housing supply to adequately
accommodate households currently living and expected to live in Newport Beach. The policies identified
will help guide future City decision -making and establishes an implementation program to achieve the
City's housing goals for the 2021-2029 period.
1. Background
The Housing Element identifies and analyzes the City's existing and projected housing needs. The Housing
Element contains a detailed outline and work program of the City's goals, policies, and quantified
objectives for the preservation, improvement, and development of housing for a sustainable future. This
includes timelines for the City to accomplish each identified action within the Housing Plan.
z. State Requirements
California State Housing Element Law (California Government Code Article 10.6) establishes the
requirements for the Housing Element. California Government Code Section 65588 requires that local
governments review and revise the Housing Element of their comprehensive General Plans not less than
once every eight years.
The California Legislature has determined that a primary housing goal for the State is ensuring every
resident has a decent home and suitable living environment. Section 655880 of the California Government
Code states:
a. The availability of housing is of vital statewide importance, and the early attainment of decent
housing and a suitable living environment for every Californian, including farmworkers, is a
priority of the highest order.
b. The early attainment of this goal requires cooperative participation of government and the private
sector in an effort to expand housing opportunities and accommodate the housing needs of
Californians in all economic levels.
c. The provisions of housing, affordable to low- and moderate -income households, requires the
cooperation of all levels of the government.
d. Local and State governments have a responsibility to use the powers vested in them to facilitate
the improvement and development of housing to make adequate provision for housing needs of
Section 1: Introduction (September 2022 Final Housing Element) 1-2
City of Newport Beach
2021-2029 HOUSING ELEMENT
all economic segments of the community. The Legislature recognizes that in carrying out this
responsibility, each local government also has the responsibility to consider economic,
environmental, and fiscal factors and community goals set forth in the general plan and to
cooperate with other local governments and the state in addressing regional housing needs.
Table 1-1 summarizes State requirements for Housing Element and identifies the applicable sections in
the 2021-2029 Housing Element where these requirements are addressed.
Table 1-1: Housing Element Requirements
Reference in
Issues Requiring Analysis
Gov. Code Section
Housing Element
Analysis of employment trends.
Section 65583.a
Section 2
Projection and quantification of existing and projected housing
Section 65583.a
Section 3
needs for all income groups.
Analysis and documentation of the City's housing
characteristics, including cost for housing compared to ability to
Section 65583.a
Section 2
pay, overcrowding, and housing condition.
An inventory of land suitable for residential development
Section 65583.a
Section 3
including vacant sites and sites having redevelopment potential.
Analysis of existing and potential governmental constraints
upon the maintenance, improvement or development of
Section 65583.a
Section 3
housing for all income levels.
Analysis of existing and potential nongovernmental (private
sector) constraints upon maintenance, improvement or
Section 65583.a
Section 3
development of housing for all income levels.
Analysis concerning the needs of the homeless.
Section 65583.a
Section 2.
Analysis of special housing needs: handicapped, elderly, large
Section 65583.a
Section 2
families, farmworkers, and female -headed households.
Analysis of opportunities for energy conservation with respect
Section 65583.a
Section 3
to residential development.
Identification of Publicly Assisted Housing Developments.
Section 65583.a
Section 3
Identification of Units at Risk of Conversion to Market Rate
Section 65583.a
Section 3
Housing.
Identification of the City's goal relative to the maintenance,
Section 65583.a
Section 4
improvement, and development of housing.
Analysis of quantified objectives and policies relative to the
Section 65583.b
Section 4
maintenance, improvement, and development of housing.
Identification of adequate sites that will be made available
through appropriate action with required public services and
Section 65583.c(1)
Appendix B
facilities for a variety of housing types for all income levels.
Identification of strategies to assist in the development of
adequate housing to meet the needs of low and moderate-
Section 65583.c(2)
Section 4
income households.
Description of the Public Participation Program in the
Section 65583.d
Appendix C
formulation of Housing Element Goals, Policies, and Programs.
Section 1: Introduction (September 2022 Final Housing Element) 1-3
City of Newport Beach
2021-2029 HOUSING ELEMENT
Reference in
Issues Requiring Analysis
Gov. Code Section
Housing Element
Description of the Regional Housing Needs Assessment (RHNA)
prepared by the Southern California Association of
Section 65583.e
Section 1
Governments.
Analysis of Fair Housing, including Affirmatively Furthering Fair
Section 8899.50
Section 3
Housing.
Review of the effectiveness of the past Element, including the
Section 65583.E
Appendix A
City's accomplishments during the previous planning period.
Source: State of California, Department of Housing and Community Development.
The City's Housing Element was last updated in September 2013 for the 51h cycle from years 2014 to 2021,
as part of the new update cycle for jurisdictions within the SCAG (Southern California Association of
Governments) region to allow for synchronization with the Regional Transportation Plan and Sustainable
Communities Strategy (RTP/SCS). The Element sets forth an 8-year strategy to address the City's identified
housing needs, including implementing specific programs and activities.
Amendments have been made to Housing Element law since the adoption of the City's 51h Cycle Housing
Element; such amendments and subsequent housing laws change the required analysis, reporting and
policies contained in the Housing Element. The contents of this updated Housing Element comply with
these amendments to state housing law and all other federal, state and local requirements.
3. Regional Housing Needs Assessment
Section 65583 of the Government Code sets forth the specific content requirements of a jurisdiction's
housing element. Included in these requirements are obligations on the part of local jurisdictions to
provide their "fair share" of regional housing needs. Local governments and Councils of Governments
(COGS) are required to determine existing and future housing need and the allocation of this need must
be approved by the California Department of Housing and Community Development (HCD). Newport
Beach is a member agency of the Southern California Association of Governments (SCAG). SCAG is
responsible for preparing the Regional Housing Needs Assessment (RHNA) for all jurisdictions within the
SCAG region.
HCD established the planning period for the current Regional Housing Needs Assessment (RHNA) from
October 15, 2021 to October 15, 2029. For the 2021-2029 planning period the City was allocated a total
of 4,845 units, including 1,456 for very low-income, 930 for low-income, 1,050 for moderate -income, and
1,409 for above -moderate income households.
4. Relationship to Other Community Plan Elements
The Housing Element is one element of the City of Newport Beach General Plan. The goals, policies,
actions, and programs within the Housing Element relate directly to, and are consistent with, all other
elements in the Newport Beach General Plan. The City's Housing Element identifies programs and
resources required for the preservation, improvement, and development of housing to meet the existing
and projected needs of its population.
Section 1: Introduction (September 2022 Final Housing Element) 1-4
City of Newport Beach
2021-2029 HOUSING ELEMENT
The Housing Element works in tandem with development policies contained in the Land Use Element,
most recently amended in 2013. The Land Use Element establishes the location, type, intensity and
distribution of land uses throughout the City, and defines the land use build -out potential. By designating
residential development, the Land Use Element places an upper limit on the densities and types of housing
units constructed in the City. The Land Use Element also identifies lands designated for a range of other
uses, including employment creating uses, open space, and public uses. The presence and potential for
jobs affect the current and future demand for housing at the various income levels in the City.
The Circulation Element of the General Plan also affects the implementation of the Housing Element. The
Circulation Element establishes policies for a balanced circulation system in the City. Consequently, the
Housing Element must include policies and incentives that consider the types of infrastructure essential
for residential housing units in addition to mitigating the effects of growth in the City.
The Housing Element has been reviewed for consistency with the City's other General Plan components,
and the policies and programs in this Element are consistent with the policy direction contained in other
parts of the General Plan. As portions of the General Plan are amended in the future, the Housing Element
will be reviewed to ensure that internal consistency is maintained.
5. Public and Stakeholder Participation
Section 65583 of the Government Code states that, "The local government shall make diligent effort to
achieve public participation of all economic segments of the community in the development of the
housing element, and the program shall describe this effort." Meaningful community participation is also
required in connection with the City's Assessment of Fair Housing (AFH). A discussion of citizen
participation is provided below.
As part of the 6tn Cycle Housing Element Update process, the City of Newport Beach conducted extensive
public outreach activities beginning in 2019.
Outreach for the 6th Cycle Housing Element to the community, includes the following actions:
• Community Workshop #1 (October 20, 2020) — Provided an overview of the Housing Element
Update process, community and housing characteristics, and engagement activities.
• Community Workshops #2 and #3 (November 16 and 17, 2020) — Engaged participants in a
suitability analysis for housing types and densities for focus areas in Newport Beach.
Community Workshop #4 (February 24, 2021) — Discussion of opportunity sites and policy
strategies.
• Community Workshop #5 (March 22, 2021) — Presented the initial draft of the Housing Element.
• Community Workshop #6 (June 21, 2021) — Presented a revised draft of the Housing Element's
sites analysis and discussed inclusionary housing, housing overlays, and accessory dwelling units.
• Online Community Survey — Participants considered potential policies and programs to include
in the Housing Element, as well as potential housing types and opportunities for housing. The
Section 1: Introduction (September 2022 Final Housing Element) 1-5
City of Newport Beach
2021-2029 HOUSING ELEMENT
survey also solicited feedback regarding potential barriers to housing access and constraints to
the development of housing.
• Planning Commission Study Session - Provided a presentation with an overview of the Public
Review Draft Housing Element and Housing Element update process to date. Community
members had the opportunity to give public comments.
• City Council Study Sessions - Provided an overview of the Public Review Draft Housing Element
and Housing Element update process to date. Follow up study sessions explored a variety of site
identification options and policy modifications. Community members had the opportunity to give
public comments.
• Housing Element Update Advisory Committee (HEUAC) Meetings — Tracked and provided
feedback on outreach efforts, made recommendations and provided guidance on policies and
programs, provided general comments and feedback.
• Housing Element Update Website (www.NewportTogether.com) - Provided relevant
information about the update process, key features of the housing element, project timeline and
a calendar of events for outreach activities. The website also provided a link to the community
survey tool, past recorded meetings and summaries, as well as the contact information of the City
for residents and community members to send additional comments or request additional
information.
• Listen & Learn — Series of community workshops in each Council District to guide and inform the
General Plan Update in 2019.
As required by Government Code Section 65585(b)(2), all written comments regarding the Housing
Element made by the public will be provided to each member of the City Council.
Appendix C will contain a summary of all public comments regarding the Housing Element received by the
City during the update process.
6. Data Sources
The data used for the completion of this Housing Element comes from a variety of sources. These include,
but are not limited to:
• 2010 Census
• American Community Survey
• Regional Analysis of Impediments to Fair Housing (AI)
• Point -in -Time Homeless Census by the Regional Task Force on the Homeless, 2019
• Home Mortgage Disclosure Act (HMDA) lending data
• California Department of Economic Development
• California Employment Development Division Occupational Wage data, 2002
Section 1: Introduction (September 2022 Final Housing Element) 1-6
City of Newport Beach
2021-2029 HOUSING ELEMENT
• Department of Housing and Urban Development, Comprehensive Housing Affordability Strategy
(CHAS), 2013-2017
• California Department of Finance
■ Southern California Association of Governments (SCAG) Local Housing Report
The data sources represent the best data available at the time this Housing Element Update was prepared.
The original source documents contain the assumptions and methods used to compile the data.
7. Housing Element Organization
This Housing Element represents the City's policy program for the 2021-2029 6th Cycle Planning Period.
The Housing Element is comprised of the following Chapters:
Section 1: Introduction contains a summary of the content, organization and statutory considerations of
the Housing Element;
Section 2: Community Profile contains an analysis of the City's population, household and employment
base, and the characteristics of the housing stock;
Section 3: Housing Constraints, Resources, and Affirmatively Furthering Fair Housing examines
governmental and non -governmental constraints on production, maintenance, and affordability of
housing and provides a summary of housing resources, including sites identification and funding and
financial considerations; and
Section 4: Housing Plan addresses the City's identified housing needs, including housing goals, policies
and programs.
Appendices provides various appendices with supplementary background resources including:
• Appendix A — Review of Past Performance of 5th Cycle Programs
• Appendix B — Summary of Adequate Sites Analysis
• Appendix C — Summary of Community Outreach
• Appendix D — Accessory Dwelling Unit Analysis
Section 1: Introduction (September 2022 Final Housing Element) 1-7
:;-Ikvf
port,,
ether.
Section 2.0
COMMUNITY PROFILE
s
City of Newport Beach
2021-2029 HOUSING ELEMENT
` •.�. �.. , . ice= � � .
The Community Profile for the City of Newport Beach provides an overview of the City's housing and
population conditions. The community profile serves as the foundation for the Housing Elements policies
by describing and assessing the factors and characteristics that contribute to the supply and demand for
housing in Newport Beach. Specifically, the community profile describes the community's population,
employment, economics, and household characteristics. Special Needs groups and housing stock
characteristics are also described. The community profile develops context for the goals, programs, and
policies, established in the Housing Element.
The data used for this community profile has been collected using the most current available data from
the Southern California Association of Governments (SCAG), 2010 U.S. Census, 2010-2018 American
Community Survey, the California Department of Finance, the California Employment Development
Department, the California Department of Education and other currently available real estate market
data. Data has also been collected from the SCAG Local Housing report for Newport Beach, which provides
facts and Figures pre -certified by the California Department of Housing and Community Development
(HCD) for use in the 61" Cycle Housing Elements.
Population characteristics affect current and future housing demands in a community. Population growth,
age compositions and race/ethnicity influence the type and extent of housing needed and the ability of
the local population to afford housing costs. The following section describes and analyzes the various
population characteristics and local trends in Newport Beach.
,. Population Growth
Table 2-1 below displays the forecasted population growth for Newport Beach, as it compares to the
County and other surrounding jurisdictions/cities. The U.S. Census reported a population of 85,186
individuals for the City in 2010. This is the second smallest population for this area after Laguna Beach,
which has a population of 22,723. The 2010 population of Newport Beach represents about 3 percent of
the Orange County total population.
The Southern California Association of Government (SCAG) Final Growth Reports calculates estimates for
future population counts and economic and housing trends through 2045. The SCAG data shown in
Table 2-1 estimates a population growth for Newport Beach of 7,100 individuals, or an 8.4-percent
increase, between 2016 and 2045. The growth calculation is consistent with that expected in Costa Mesa
and is double that of Huntington Beach. In comparison, the City of Irvine anticipates a population surge
of about 25 percent through 2045. Between 2016 and 2045, Newport Beach population is forecasted to
grow by about 2 percent less than Orange County.
Section 2: Community Profile (September 2022 Final Housing Element) 2-1
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table 2-1: Population Growth Forecast, 2016-2045
Jurisdictions
Population
Percent Change
2016
Actual
2045
Projected
2016-2045
Costa Mesa
113,900
123,700
8.6%
Newport Beach
84,900
92,000
8.4%
Huntington Beach
196,900
205,300
4.3%
Laguna Beach
23,400
23,500
0.4%
Irvine
261,600
327,700
25.3%
Orange County
3,180,000
3,535,000
11.2%
Represents an estimate from the SCAG Connect SoCal 2016-2045 Demographics and Growth Forecast.
Sources: SCAG 2020 Connect SoCal Demographics and Growth Forecast.
2, Age Characteristics
The age composition of a community affects housing needs because housing demand within the market
is often determined by the preferences of certain age groups. For example, young adults generally favor
apartments, low to moderate -cost condominiums, and smaller or more affordable single -unit homes
because they tend to live on smaller incomes and have smaller households. As population moves through
different stages of life, housing is required to accommodate new or adjusted needs. To produce a well-
balanced and healthy community, a community must provide appropriate housing to accommodate needs
of all ages.
Figure 2-1: Age Distribution in Newport Beach, 2010-2018
35.0%
30.0%
25.0%
20.0%
15.0%
10.0%
5.0%
,•r•
0.0%
5 to 19
20 to 34
35 to 44
45 to 64
65 and Above
■ 2010
4.5%
14.7%
20.8%
13.0%
28.6%
18.3%
2014
3.9%
15.6%
18.7%
12.3%
29.8%
19.7%
2018
3.9%
14.6%
17.8%
10.7%
30.2%
22.7%
Source: American Community Survey, 5-Year Estimates, 2010, 2014, and 2018.
Newport Beach population that falls within the ages of 45 to 64 represents the largest age group, as shown
in Figure 2-1. In 2018, 30.2 percent of the population was between the ages of 45 and 64. Children under
5 years of age make up about 4 percent of the population, and 18.5 percent are 19 years or younger.
Adults in the 35 to 44 age group have the second lowest population representation at 10.7 percent.
Section 2: Community Profile (September 2022 Final Housing Element) 2-2
City of Newport Beach
2021-2029 HOUSING ELEMENT
From 2010 to 2018, Newport Beach shows an aging population trend. All age groups under 45 years have
consistently been decreasing. The 20 to 34 age group has experienced the greatest population loss at
3 percent between 2010 to 2018. In comparison, seniors over 65 years have increased by 4.4 percent
during the same time. The middle-aged and senior populations both make up the largest age groups and
can be expected to continue increasing given the decreasing distribution of young adults and children.
Table 2-2 compares the age distribution of Newport Beach to the rest of the county and surrounding
cities. The City has a below -average age distribution for those ages 44 and under as compared to Orange
County. The City of Laguna Beach and Newport Beach both exceed 22 percent of senior populations, while
the surrounding cities and county range from 9 to 16 percent. All municipalities in Table 2-2 have lower
distributions of individuals ages 15 to 17 and higher distributions of individuals 45 to 64 years of age.
Table 2-2: Age Distribution by Jurisdiction
Jurisdiction
Under 5
5 to 14
15 to 17
18 to 24
25 to 44
45 to 64
65+ years
Costa Mesa
5.7%
11.4%
3.2%
9.6%
35.2%
24.3%
10.7%
Newport Beach
3.9%
10.0%
3.5%
6.3%
23.4%
30.2%
22.7%
Huntington Beach
5.2%
10.9%
3.5%
7.6%
27.0%
29.0%
16.9%
Laguna Beach
3.4%
8.5%
4.1%
5.9%
16.3%
38.4%
23.3%
Irvine
6.4%
12.4%
3.6%
13.0%
30.8%
23.9%
9.9%
Orange County
6.0%
12.5%
4.0%
9.5%
27.4%
26.6%
13.9%
Source: American Community Survey, 5-Year Estimates, 2018
3. Race/Ethnicity Characteristics
Racial and ethnic composition contribute to housing needs due to varying household characteristics,
income levels, and cultural backgrounds which may affect their housing needs, housing choice and
housing types. Cultural influences may reflect preference for a specific type of housing.
As summarized in Figure 2-2, Newport Beach is comprised mainly of White individuals at 85.3 percent of
the population in 2018. American Indian/Alaska Natives and Native Hawaiian/other Pacific Islanders
comprise the lowest percentage; both populations in Newport Beach and Orange County add up to less
than 1 percent of the population. The White population in Newport Beach is 23.6 percent greater than
the county and the Hispanic or Latino population is 25.1 percent less than that of the county. The Black
population represents 0.8 percent of the Newport Beach population, which is half that of Orange County.
The Asian population of Newport Beach is 11.8 percent smaller than that of Orange County and there are
9.6 percent less individuals in the City who identify as some other race than in the County.
Section 2: Community Profile (September 2022 Final Housing Element) 2-3
City of Newport Beach
Figure 2-2: Racial and Ethnic Composition, 2018
90%
80%
70%
60%
50%
40%
30%
20%
10%
American Native
Black or Indian and Hawaiian Some Two or Hispanic
White African Alaska Asian and Other Other more or Latino
American Native Pacific Race Race
Islander
■ Newport Beach 85.3% 0.8% 0.3% 8.3% 0.2% 2.1 % 3.1 % 9.0%
Orange County 61.7% 1.7% 0.5% 20.1 % 0.3% 11.7% 4.1 % 34.1 %
Source: American Community Survey, 5-Year Estimates, 2018.
Table 2-3 shows that all cities around Newport Beach and Orange County have a majority White
population. The second largest population group in this area are those who identify as Hispanic or Latino.
The Black population in Newport Beach and Laguna Beach are both the smallest of the area at 0.8 percent
and both cities are below the county percentage by just under 1 percent. Both American Indian/Alaska
Native and Native Hawaiian/other Pacific Islanders represent the smallest population groups with neither
exceeding 1 percent in any of the listed cities.
Table 2-3: Racial and Ethnic Composition, 2018
American
Native
Indian/
Hawaiian/
Some
Two or
Hispanic
p
Jurisdiction
White
Black
Asian
Other
More
Alaska
Other Pacific
or Latino
Native
Islander
Race
Races
Origin
Costa Mesa
71.6%
1.9%
0.4%
8.4%
0.7%
13.0%
4.0%
36.1%
Newport
85.3%
0.8%
0.3%
8.3%
0.2%
2.1%
3.1%
9.0%
Beach
Huntington
72 4%
1.4%
0.6%
12.1%
0.4%
7.3%
5.4%
20.0%
Beach
Laguna
90.8%
0.8%
0.1%
3.7%
0.3%
1.5%
2.8%
7.4%
Beach
Irvine
47.6%
1.9%
0.2%
42.3%
0.2%
2.8%
5.2%
10.3%
Orange g
61.7%
1.7%
0.5%
20.1%
0.3%
11.7%
4.1%
34.1%
County
Note: (1) Persons of Hispanic or Latino Origin is an ethnicity that may be included in other racial groups.
Source: American Community Survey, 5-Year Estimates, 2018.
Section 2: Community Profile (September 2022 Final Housing Element) 2-4
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table 2-4 identifies the change in composition of Newport Beach between 2010 to 2018. The population
who reported White experienced the greatest population loss between 2010 and 2015 (4 percent), but
then increased byjust under a percent point between 2015 and 2018. The City's population who identifies
as Hispanic or Latino increased by a total of 1.6 percent; this was the greatest population increase
between these three survey years. Overall, majority of the different racial and ethnic populations within
Newport Beach remained stable in population from 2010 to 2018.
Table 2-4: Chanees in Racial and Ethnic Composition. 2010-2018
Percent
Percent
Race/Ethnicity
2010
2015
2018
Change 2010
Change 2015
to 2015
to 2018
White
88.4%
84.4%
85.3%
-4.0%
0.9%
Black
0.6%
0.4%
0.8%
-0.2%
0.4%
American Indian and
0.1%
0.2%
0.3%
0.1%
0.0%
Alaska Native
Asian
7.2%
8.2%
8.3%
1.0%
0.1%
Native Hawaiian or Other
0.0%
0.2%
0.2%
0.2%
0.0%
Pacific Islander
Some Other Race
1.9%
3.1%
2.1%
1.2%
-1.1%
Two or More Races
1.7%
3.4%
3.1%
1.7%
-0.3%
Hispanic or Latino*
7.4%
8.3%
9.0%
0.9%
0.7%
*Of any race.
Source: American Community Survey, 5-Year Estimates, 2010, 2015, and 2018.
Reporting and analyzing economic characteristics of a community provides valuable information on the
community's ability to access the housing market. Incomes associated with different types of employment
and the number of workers in a household affect housing affordability and choice. Therefore, to consider
a healthy balance between jobs and housing, the employment characteristics of a community must be
considered. Local employment growth is linked to local housing demand, and the reverse is true with
employment contracts.
Employment and Wage Scale
Employment directly affects housing needs, as employment and income inform a population's ability to
purchase housing and the types of housing they would be inclined to purchase. Table 2-5 summarizes
projected employment growth for Newport Beach and its surrounding cities and Orange County between
2012 to 2040. These projections are provided by the Southern California Association of Government's
(SCAG) Regional Transportation Plan/Sustainable Communities Strategy (RTP/SCS). The report is a long-
range plan that considers future mobility and housing needs with economic, environmental, and public
health goals and was adopted on April 7, 2016.
Section 2: Community Profile (September 2022 Final Housing Element) 2-5
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table 2-5 shows that Newport Beach is estimated to experience an employment growth of 1.8 percent
between 2016 to 2045. The total employment growth in the City is significantly less in percentage than
the forecast for the surrounding cities. City of Irvine is estimated to experience a 24.5 percent increase
through 2045, which is about 10 percent more than the percentage projected for the whole county. While
Newport Beach is projected to experience the least employment growth as a percent, the growth
represents an increase in 1,500 new employees; this is a greater numeric change than Laguna Beach. The
number of new employees projected for Newport Beach represent 0.5 percent of employment growth
for the county.
Table 2-5: Emplovment Growth Trends, 2016-2045
Jurisdiction
2016
2045
% Change
2016-2045
Numeric Change
2016-2045
Costa Mesa
95,700
104,000
8.7%
8,300
Newport Beach
83,400
84,900
1.8%
1,500
Huntington Beach
83,400
90,800
8.9%
7,400
Laguna Beach
5,800
6,100
5.2%
300
Irvine
265,300
330,200
24.5%
64,900
Orange County
1 1,710,000
1,980,000
15.8%
270,000
Source: SCAG 2020 Connect SoCal Demographics and Growth Forecast.
Based on data from the United States Census Bureau American Community Survey (ACS) 5-Year Estimates,
the number of employed people in Newport Beach reached 43,892 in 2018. This value is less than the
amount projected by the SCAG RTP/SCS. A contributing factor for this may be the increasing amount of
the population over the retirement age, as shown in Figure 2-1.
Table 2-6 identifies employment sectors in Newport Beach and the changes in employment for each
sector between 2010 and 2018. Most employed people in the City work in professional, scientific,
management, and administrative services (19.4 percent). The sector with the least amount of residents
employed was agriculture, forestry, fishing and hunting, and mining, with only 0.2 percent in 2018. Two
other popular sectors in the City in 2018 were finance and insurance, and real estate and rental leasing at
18.7 percent as well as education services, health care, and social assistance at 17.1 percent. None of the
employment sectors in Newport Beach have experienced changes in employment greater than 1 percent
between the two survey years. This has resulted in a decrease of 0.5 percent in total employment, rather
than an increase as forecasted in Table 2-5.
Section 2: Community Profile (September 2022 Final Housing Element) 2-6
City of Newport Beach
2021 f--? ", NG ELEMENT
Table 2-6: Employment in Newport Beach by Sector, 2018
2010
2018
Percent
# of people
% of City
# of people
% of City
Industry Sector
Change
employed
Employment
employed
Employment
2010-2018
Agriculture, forestry, fishing
1,324
0.3%
92
0.2%
0.1/ °
and hunting, and mining
Construction
2,118
4.8%
1741
4.0%
0.8%
Manufacturing
3,529
8.0%
3929
9.0%
-1.0%
Wholesale trade
2,074
4.7%
2165
4.9%
-0.3%
Retail trade
4,411
10.0%
4149
9.5%
0.6%
Transportation and
839
1.9%
1020
2.3%
-0.4%
warehousing, and utilities
Information
1,059
2.4%
991
2.3%
0.2%
Finance and insurance, and
8,072
18.3%
8196
18.7%
-0.4/0 °
real estate and rental leasing
Professional, scientific,
management, and
8,999
20.4%
8517
19.4%
1.0%
administrative services
Education services, health
7,234
16.4%
7507
17.1%
-0.7%
care, and social assistance
Arts, entertainment,
recreation, accommodation,
3,353
7.6%
3425
7.8%
-0.2%
and food services
Other services (except public
1,324
3.0%
1472
3.4%
-0.4%
administration)
Public Administration
971
2.2%
688
1.6%
0.7%
Total
44,109
100%
43,892
100%
-0.5%
Source: American Community Survey, 5-Year Estimates, 2010 and 2018.
Table 2-6 shows that employment decreased slightly from 2010 to 2018 despite a projected growth and
estimated employment amount much larger than that reached. Nonetheless, unemployment rates
displayed in Table 2-7 show a drop by 1 percent during the same period. Unemployment factors into
housing needs as the lack of income necessitates the availability of affordable housing. Newport Beach
has maintained an unemployment rate of 3.4 percent in 2018 - the lowest unemployment rate for this
area, and 1.7 percent below Orange County.
Section 2: Community Profile (September 2022 Final Housing Element) 2-7
City of Newport Beach
2021-2029 HOUSING ELEMENT
p.j E
W�:,M
'.
Table 2-7: Unemployment Rate, 2018
Jurisdiction
Unemployment Rate*
Percent Change
2010-2018
2010
2018
Costa Mesa
7.3%
4.8%
-2.5%
Newport Beach
4.4%
3.4%
-1%
Huntington Beach
7%
4.3%
-2.7%
Laguna Beach
4.4%
6.8%
2.4%
Irvine
5.5%
4.9%
1 -0.6%
Orange County
7.4%
5.1%
-2.3%
*Population 16 years and over
Source: American Community Survey, 5-Year Estimates, 2010 and 2018.
Based on the data in Table 2-7, approximately 2,492 Newport Beach residents were without work in 2018
and would therefore be more likely to require more affordable housing options. For those that are
employed, income level further identifies housing types that may need to be provided within the City.
According to the SCAG Draft Regional Housing Needs Assessment (RHNA) Methodology, housing needs
by income are broken down into four income levels:
• Very Low -Income (50 percent or less of the county's median family income)
• Low -Income (50-80 percent of the county median family income)
• Moderate -Income (80-120 percent of the county median family income)
• Above Moderate -Income (120 and above of the county median family income)
Orange County's median family income is $85,398 according to the 2018 ACS estimates. The occupations
that fall below 50 percent of this amount are Protective Services; Sales; Office and Administration Support;
Production; Transportation and Material Moving; Healthcare Support; Building, Grounds Cleaning, and
Maintenance; Personal Care and Service; Farming, Fishing and Forestry; and Food Preparation and Serving
Related. Most occupations in Orange County have an average income that is either low or very low.
Table 2-8: Mean Salary by Occupation in Orange County, 2020
Occupation
Salary
Management
$120,871
Legal
$105,406
Healthcare Practitioners and Technical
$79,755
Architecture and Engineering
$87,635
Computer and Mathematical
$92,631
Life, Physical and Social Sciences
$67,488
Business and Financial Operations
$73,913
Education, Training and Library
$52,043
Arts, Design, Entertainment, Sports and Media
$47,351
Construction and Extraction
$52,684
Protective Services
$37,236
Section 2: Community Profile (September 2022 Final Housing Element) 2-8
City of Newport Beach
2021-2029 HOUSIMG ELEMENT
Table 2-8: Mean Salary by Occupation in Orange County, 2020
Occupation
Salary
Community and Social Service
$48,834
Installation, Maintenance and Repair
$48,928
Sales
$32,262
Office and Administration Support
$38,845
Production
$31,669
Transportation and Material Moving
$29,254
Healthcare Support
$34,397
Building, Grounds Cleaning, and Maintenance
$27,824
Personal Care and Service
$24,666
Farming, Fishing and Forestry
$25,487
Food Preparation and Serving Related
$24,841
Source: California Employment Development Division, Occupational Wage data, 2020.
A household includes all persons who occupy a housing unit, as defined by the Census. This may include
single persons living alone, families related through marriage, blood or adoption, domestic partnerships
and unrelated individuals living together. Nursing facilities, residential care facilities, dormitories, and
other group living, as well as the persons living with them are not considered a housing unit.
Income and affordability are best measured at the household level, as well as the special needs of certain
groups, such as large families, single parent households, or low and extremely low-income households.
For example, if a city has a prominent aging population who are homeowners but live on fixed incomes,
it may consider implementing a home beautification assistance program.
1. Household Typ,, and Size
Newport Beach contains 37,870 total households, which is the second smallest household amount behind
Laguna Beach with 10,542 total households. Female households with no spouse present represent the
lowest amount at 4.9 percent and is 6.9 percent below the regional percentage. Orange County has
28.2 percent non -family households, but all cities in this area, including Newport Beach, have percentages
that exceed 33 percent. Newport Beach non -family households account for the second largest percentage
at 42.5 percent. When combined with senior households over the age of 65 and living alone, as shown in
Figure 2-3, it amounts to 56 percent of households in the City. These two groups of people tend to occupy
apartments or smaller age centric living areas and would also be considered in determining housing needs.
Section 2: Community Profile (September 2022 Final Housing Element) 2-9
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table 2-9: Household Characteristics
Married-
Female
couple
% of Total
Householder,
% of Total
Non -Family
% of Total
Total
Jurisdiction
Family
Households
No Spouse
Households
Household
Households
Households
Households
Present
Costa Mesa
17,568
42.8%
4,191
10.2%
16,509
40.2%
41,019
Newport
18,965
50.1%
1,870
4.9%
16,088
42.5%
37,870
Beach
Huntington
37,588
48.9%
8,263
10.8%
26,961
35.1%
76,821
Beach
Laguna
5,116
48.5%
539
5.1%
4,537
43%
10,542
Beach
Irvine
51,682
54.2%
8,418
8.8%
31,636
33.2%
95,371
Orange
564,685
54.7%
121,753
11.8%
290,652
28.2%
1,032,373
County
Source: American Community Survey, 5-Year Estimates, 2018
Figure 2-3: Newport Beach Household Characteristics in Percent, 2018
bur°
50%
40%
30%
20%
10%
Married -Couple Male Female Non -Family Householder
Family Householder, No Householder, No Household Age 65 or Above
Household Spouse Present Spouse Present
Newport Beach 50.1 % 2.5% 4.9% 42.5% 13.5%
Source: American Community Survey, 5-Year Estimates, 2018.
Table 2-10 below illustrates the changes in household types between 2010 and 2018. During these years,
Newport Beach experienced a growth in population of married -couple family households (5.3 percent)
and of householders 65 years and over who live alone (5.5 percent). Non -family households dropped by
4.2 percent in the same time period, with 3.8 percent occurring between 2010 and 2015. In 2010,
non -family households were the largest household type in Newport Beach at 46.7 percent, but in 2018
the married -couple family households became the largest with 47.6 percent of the population.
Section 2: Community Profile (September 2022 Final Housing Element) 2-10
City of Newport Beach
2021 -
Table 2-10: Changes in Household Types, 2010-2018
2010
Percent
2015
Percent
2018
Percent
Married -couple Family
16,936
44.8%
18,122
47.6%
18,965
50.1%
Households
Female Household,
2,155
5.7%
2,665
7.0%
1,870
4.9%
No Spouse Present
Male Household,
1,058
2.8%
990
2.6%
947
2.5%
No Spouse Present
Non -Family Household
17,654
46.7%
16,332
42.9%
16,088
42.5%
Householder 65 Years and Over
3,024
8.0%
4,797
12.6%
5,112
13.5%
Total Households
37,803
100%
38,071
100%
37,870
100%
Source: American Community Survey, 5-Year Estimates, 2010, 2015 and 2018.
Newport Beach represents 1 of the smallest average household sizes in the area, as shown in Table 2-11.
The average household size for the region is 3 persons and the average household size for the City is
2.2 persons per home. All the neighboring cities have comparable household sizes under the regional
amount.
Table 2-11: Average Household Size
Jurisdiction
Average Persons per Household
Costa Mesa
2.7
Newport Beach
2.2
Huntington Beach
2.6
Laguna Beach
2.1
Irvine
2.6
Orange County
3
Source: California Department of Finance — Population and Housing
Estimates, 2018.
2. Household Income
Household income is an indicator of housing needs in a community because household income is directly
connected to affordability. As household income increases, it is more likely that the household can afford
market rate housing units, larger units and/or pursue ownership opportunities. However, as household
income decreases, households tend to pay a disproportionate amount of their income for housing. This
may influence increased incidences of overcrowding and substandard living conditions.
The California State Department of Housing and Community Development (HCD) has identified the
following income categories based on the Area Median Family Income (AMFI) of Orange County:
• Extremely Low-income: households earning up to 30 percent of the AMFI
• Very Low-income: households earning between 31 and 50 percent of the AMFI
• Low-income: households earning between 51 percent and 80 percent of the AMFI
• Moderate -income: households earning between 81 percent and 120 percent of the AMFI
• Above Moderate -income: households earning over 120 percent of the AMFI
Section 2: Community Profile (September 2022 Final Housing Element) 2-11
City of Newport Beach _
Combined, the extremely low, very low, and low-income groups are referred to as lower -income.'
Comprehensive Housing Affordability Strategy (CHAS) estimates based on 2006-2017 American
Community Survey (ACS) data is used below. Table 2-12 shows a greater percentage of homeowners (57
percent) than renters (43 percent) in Newport Beach. Just under 70 percent of households are estimated
to have a moderate or above income and 21.6 percent earn a lower -income. A greater number of renters
are estimated to earn a lower -income than of homeowners. About 60 percent of households in the
extremely low-income category identified as renters, as for very low- and low-income households.
Homeownership was more likely for households in the moderate or above moderate -income groups.
Table 2-12: Households by Income Cateeorv. 2013-2017
Income Category
(% of County AMI)
Owner
Renter
Households
Total
Percent
Total
Percent
Total
Percent
Extremely Low
(30%AMFI or less)
1,575
40.8%
2,280
59.2%
3,855
10.15%
Very Low (31 to 50%AMFI)
1,310
40.1%
1,960
59.9%
3,270
8.61%
Low (51 to 80%AMFI)
1,920
42.9%
2,550
57.1%
4,470
11.77%
Moderate or Above
(over 80% AMFI)
16,840
63.8%
9,540
36.2%
26,380
69.5%
Total
21,645
57.0%
16,325
43.0%
37,970
100%
Source: Department of Housing and Urban Development (HUD) Comprehensive Housing Affordability Strategy (CHAS),
2013-2017.
The ACS 2018 data shown in Figure 2-4 below depicts median household income for Newport Beach,
surrounding jurisdictions, and the County of Orange. The figure shows a much higher median household
income in the City that exceeds the regional median by $37,311 annually. At $122,709, Newport Beach
has the highest median household income than any of the neighboring cities. Laguna Beach is in close
second with an annual median household income of $121,474. Costa Mesa is the only nearby city with a
median household income below the regional median and $43,502 below Newport Beach. Table 2-13 also
compares median household incomes by percent points above or below the regional amount. All cities
around Newport Beach, except for Costa Mesa, exceed the Orange County median household income of
$85,398.
Federal housing and community development programs typically assist households with incomes up to 80 percent of the AMFI and use
different terminology. For example, the Federal Community Development Block Grant (CDBG) program refers households with incomes
between 51 and 80 percent AMFI as moderate income (compared to low-income based on State definition).
Section 2: Community Profile (September 2022 Final Housing Element) 2-12
City of Newport Beach
Figure 2-4: Median Household Income by City, 2018
$140,000
$122,709
$120,000
$100,000
$80,000 $79�-
$60,000
$40,000
$20,000
$121,474
Costa Mesa Newport Beach Huntington Beach Laguna Beach
Median Income -Orange County Median Income
Source: American Community Survey, 5-Year Estimates, 2018.
Table 2-13: Median Household Income
Jurisdiction
Median -income
Percent
Above/Below
Regional Median
Costa Mesa
$79,207
-7.2%
Newport Beach
$122,709
43.7%
Huntington Beach
$91,318
6.9%
Laguna Beach
$121,474
42.2%
Irvine
$95,371
11.7%
Orange County
$85,398
100%
Source: American Community Survey, 5-Year Estimates, 2018.
r
Irvine
E
$85,398
Further explaining the income gap between Orange County and Newport Beach is an income breakdown
for the City in Figure 2-5. Most employed City residents fall in the high -income category as about 31
percent of residents earn $200,000 per year and 60 percent earn over $100,000. About 15 percent of the
Newport Beach population earns under $35,000 annually.
Section 2: Community Profile (September 2022 Final Housing Element) 2-13
City of Newport Beach _
Figure 2-5: Newport Beach Income Breakdown by Income Category
35%
30%
25%
20%
15%
10%
0 /o
Less
00 $150 ,, $10000
$10,000 $15,000 $25,000 $35,000 $50,000 $75,000 $200,00
than
to to to to to to 0 to 0 to
0 or
$10,000
$149 99 $199 99
$14,999 $24,999 $34,999 $49,999 $74,999 $99,999 more
9 9
Newport Beach
4.0%
2.6% 4.2% 4.5% 6.0% 9.9% 9.3% 17.6% 11.1 % 30.8%
Source: American Community Survey, 5-Year Estimates, 2018.
The Comprehensive Housing Affordability Strategy (CHAS) developed by the Census Bureau for the
Department of Housing and Urban Development (HUD) provides detailed information on housing needs
by income level for different types of households in Newport Beach. The most recent available CHAS data
for the City was published in August 2020 and was based on 2006-2017 ACS data. Housing problems
considered by CHAS included:
• Units with physical defects (lacking complete kitchen or bathroom);
• Overcrowded conditions (housing units with more than one person per room);
• Housing cost burdens, including utilities, exceeding 30 percent of gross income; or
• Severe housing cost burdens, including utilities, exceeding 50 percent of gross income.
As is the case with many cities, there is strong variation between homeowners and renters who
experience housing problems in the City, as shown in Table 2-14. Of all homeowners in the City,
35.3 percent experience at least one housing problem, while 45.1 percent of renters experience one these
problems. Over half of all households in the City have at least one housing problem (58.5 percent).
Severe housing problems are comprised of incomplete kitchen facilities, incomplete plumbing facilities,
more than 1.5 persons per room, and a cost burden greater than 50 percent. The CHAS reports that just
under a quarter of Newport Beach households experience at least one of these problems (23 percent).
Similarly to general housing problems, renters here are also more likely to be affected; in the City,
27.2 percent of renter -occupied units are subject to at least one severe housing problem. A lower — yet
substantial — percentage of homeowners live with at least one severe housing problem (19.8 percent).
Section 2: Community Profile (September 2022 Final Housing Element) 2-14
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table 2-14: Housing Problems Overview, 2013-2017
Owner
Renter
Total
Housing Problem
Percent of
Percent of
Percent of
Overview*
Count
owner
Count
renter
Count
total
households
households
households
Household has at least 1 of
7,635
35.3%
7,355
45.1%
14,990
39.5%
4 Housing Problems
Household has none of 4
13,835
63.9%
8,365
51.2%
22,200
58.5%
Housing Problems
Cost Burden not available,
175
0.8%
610
3.7%
785
2.1%
no other problems
Total
21,645
57.0%
16,325
43.0%
37,970
100.0%
Owner
Renter
Total
Severe Housing Problem
Percent
Percent of
Percent of
Overview**
Count
owner
Count
renter
Count
total
households
households
households
Household has at least 1 of
4 Severe Housing
4,285
19.8%
4,435
27.2%
8,720
23.0%
Problems
Household has none of 4
17,180
79.4%
11,285
69.1%
28,465
75.0%
Severe Housing Problems
Cost Burden not available,
175
0.8%
610
3.7%
785
2.1%
no other problems
Total
21,645
57.0%
16,325
43.0%
37,970
100%
* The four housing problems are: incomplete kitchen facilities, incomplete plumbing facilities, more than 1 person per room,
and cost burden greater than 30%.
** The four severe housing problems are: incomplete kitchen facilities, incomplete plumbing facilities, more than 1.5 persons
per room, and cost burden greater than 50%.
Source: U.S. Department of Housing and Urban Development (HUD), Comprehensive Housing Affordability Strategy (CHAS)
2013-2017.
1. Overcrowding
"Overcrowding" is generally defined as a housing unit occupied by more than one person per room in
house (including living room and dining rooms, but excluding hallways, kitchen, and bathrooms). An
overcrowded household results from either a lack of affordable housing, which forces more than one
household to live together, and/or a lack of available housing units of adequate size. Overcrowding can
indicate that a community does not have an adequate supply of affordable housing, especially for large
families. However, overcrowding can also be a result of different cultural or demographic housing
preferences. For example, the option to live with an existing family member in a new country may be an
opportunity for an immigrant family or person to transition from an old home to a new one securely and
help maintain cultural values.
Overcrowded and severely overcrowded households can lead to neighborhood deterioration due to the
intensive use of individual housing units leading to excessive wear and tear, and the potential cumulative
overburdening of community infrastructure and service capacity. Overcrowding in neighborhoods can
lead to an overall decline in social cohesion and environmental quality. Such decline can often spread
Section 2: Community Profile (September 2022 Final Housing Element) 2-15
City of Newport Beach
2021-2029 HOUSING ELEMENT
geographically and impact the quality of life and the economic value of property and the vitality of
commerce within a city. The combination of lower -incomes and high housing costs result in many
households living in overcrowded housing conditions.
Table 2-15: Overcrowding by Tenure. 2018
Overcrowded Housing Units
Severely Overcrowded
Total Overcrowded Occupied
Housing Units (>1.51
(1.0 to 1.50 persons/room)
persons/room)
Housing Units
Tenure
Percent of
Percent of Total
Number of
Percent of
Number of
Number of
Total Occupied
Occupied
Units
Total Occupied
Units
Units
Housing Units
Housing Units
Housing Units
Owner
65 units
0.2%
0 units
0%
65 units
°
0.2/°
Occupied
Renter
252 units
0.7%
253 units
0.7%
505 units
1.3%
Occupied
Total
317 units
0.8%
253 units
0.7%
570 units
1.5%
Source: American Community Survey, 5-Year Estimates, 2018.
Table 2-15 breaks down the severity of overcrowding in Newport Beach by household tenure. As the table
shows, there is a very low percentage of units that are overcrowded (1.5 percent). About 80 percent of
those overcrowded units are renter -occupied, with 1.3 percent of households being overcrowded and
severely overcrowded. Only 0.2 percent of owner -occupied units exceed 1 person per bedroom. In
comparison to the surrounding cities, as outlined in Table 2-16, Newport Beach has kept the lowest
percentages of overcrowding for both renters and homeowners. Costa Mesa reported the largest total
percentage of overcrowded cities (9 percent), which is 7.5 percent over that of Newport Beach. Orange
County reported 21,800 overcrowded units and 8.9 percent of total households.
Table 2-16: Overcrowded Housing Units by Tenure. 2018
Jurisdiction
Owner Occupied Overcrowded Units
(>1.0 persons/room)
Renter Occupied Overcrowded Units
(>1.0 persons/room)
Number of Units
Percent of Total
Occupied Units
Number of Units
Percent of Total
Occupied Units
Costa Mesa
435 units
1.1%
3,251 units
7.9%
Newport Beach
65 units
0.2%
505 units
1.3%
Huntington Beach
557 units
0.7%
2,291 units
3.0%
Laguna Beach
62 units
0.6%
127 units
1.2%
Irvine
958 units
1.0%
4,921 units
5.2%
Orange County
21,800 units
2.1%
69,713 units
6.8%
Source: American Community Survey, 5-Year Estimates, 2018.
?. Overpayment (Cost Burden) In Relationship to Income
State and federal standards indicate that a household paying more than 30 percent of its income for
housing is overpaying. Overpayment for housing can cause an imbalance on the remainder of a
household's budget.
Section 2: Community Profile (September 2022 Final Housing Element) 2-16
City of Newport Beach
2021-2029 HOUSING ELEMENT
As reported by the CHAS and presented in Table 2-17, a large portion of households are subject to some
form of overpayment in Newport Beach. Renters in the City represent a greater portion of the community
that is overpaying for housing, but homeowners are 12 percent behind and exceed renters in total count
—there are 11,810 homeowners overpaying and 10,880 renters overpaying for housing. Homeowners who
earn over 100 percent of the HUD area median family income (AMFI), and are considered high -income,
make up the largest group experiencing cost burdens greater than 30 percent and 50 percent. For renters,
those who experience housing burdens are those who earn a moderate to low-income.
Table 2-17: Summary of Housing Overpayment, 2013-2017
Owner
Renter
Income by
Cost
% of
Cost
% of
Cost
% of
Cost
% of
Cost Burden*
Burden >
Owner
Burden >
Owner
Burden >
Renter
Burden >
Renter
30%
HH
50%
HH
30%
HH
50%
HH
Household
Income is less-
1,335
6.2%
1,225
5.7%
1,485
9.1%
1,455
8.9%
than or = 30%
Household
Income >30%
1,010
4.7%
820
3.8%
1,696
10.4%
1,350
8.3%
to less -than or
= 50% AMFI
Household
Income >50%
1,210
5.6%
815
3.8%
1,980
12.1%
910
5.6%
to less -than or
= 80% AMFI
Household
Income >80%
615
2.8%
450
2.1%
815
5.0%
170
1.0%
to less -than or
= 100%AMFI
Household
Income
3,420
15.8%
910
4.2%
965
5.9%
55
0.3%
>100% AMFI
Total
7,590
35.1%
4,220
19.5%
6,940
42.5%
3,940
24.1%
* Cost burden is the ratio of housing costs to household income. For renters, housing cost is gross rent (contract rent plus
utilities). For owners, housing cost is "select monthly owner costs", which includes mortgage payment, utilities, association
fees, insurance, and real estate taxes.
Note: AMFI = Area Median Family Income, this is the median family income calculated by HUD for each jurisdiction, to
determine Fair Market Rents (FMRs) and income limits for HUD programs. AMFI will not necessarily be the same as other
calculations of median incomes (such as a simple Census number), due to a series of adjustments that are made.
Source: Source: U.S. Department of Housing and Urban Development (HUD), Comprehensive Housing Affordability Strategy
(CHAS) 2013-2017.
Section 2: Community Profile (September 2022 Final Housing Element) 2-17
City of Newport Beach
2021-2029 HOUSING ELEMENT
State law recognizes that certain households may have more difficulty in finding adequate and affordable
housing due to special circumstances. Special needs populations include seniors, persons with disabilities,
female -headed households, large households, and farmworkers.
Special circumstances may be related to one's employment and income, family characteristics, disability
and household characteristics, or other factors. Consequently, certain residents in Newport Beach may
experience higher incidences of housing overpayment (cost burden), overcrowding, or other housing
problems. The special needs groups analyzed in the Housing Element include the elderly, persons with
disabilities (including persons with developmental disabilities), people experiencing homelessness, single
parents, large households, and farmworkers (Table 2-18). These groups may overlap, for example elderly
people may also have a disability of some type. The majority of these special needs groups could be
assisted by an increase in affordable housing.
Table 2-18: Special Needs Groups in Newport Beach
# of People or
Percent of Total
Percent of Total
Special Needs Groups
Households
Population
Households
Senior Headed Households (65 years and over)
12,187 households
--
32.2%
Seniors
19,574 persons
22.7%
--
Seniors Living Alone
5,119 households
--
13.5%
Persons with Disabilities
6,943 persons
8.1%
--
Large Households (5 or more persons
1,945 households
--
5.1%
per household)
Single -Parent Households
1,358 households
--
3.6%
Single -Parent, Female Headed Households
936 households
--
2.5%
with Children (under 18 years)
People Living in Poverty
5,670 persons
6.6%
--
Farmworkers*
92 persons
0.2%
--
Persons Experiencing Homelessness**
64 persons
0.09%
--
Student
5,273 persons
6.1%
--
*Farmworker data is taken of the population 16 years and over, not total population.
**The Everyone Counts report is updated annually, therefore the most recent data is from 2019, and there is no percentage
of total population available.
Source: American Community Survey, 5-Year Estimates, 2018 and Orange County Point in Time Count, Everyone Counts Report
2019.
1 Seniors
The senior population, which is generally defined as those over 65 years of age, has several concerns:
limited and fixed incomes, high healthcare costs, higher incidence of mobility and self -care limitations,
transit dependency, and living alone. Specific housing needs of the senior population include affordable
Section 2: Community Profile (September 2022 Final Housing Element) 2-18
City of Newport Beach
2021-2029 HOUSING ELEMENT
housing, supportive housing (such as intermediate care facilities), group homes, and other housing that
includes a planned service component.
Newport Beach has the second largest population of seniors over the age of 65 at 22.7 percent, as shown
in Table 2-19. This is 8.8 percent above the percentage for the County. Laguna Beach is reported to have
the largest senior population of the area (23.3 percent) and Irvine has the lowest at 9.9 percent of its
population.
Table 2-19: Persons Age 65 and Over. 2018
Jurisdiction
PopulationPercent
Count
Costa Mesa
12,138
10.7%
Newport Beach
19,574
22.7%
Huntington Beach
34,002
16.9%
Laguna Beach
5,398
23.3%
Irvine
26,228
9.9%
Orange County
440,488
13.9%
Source: American Community Survey, 5-Year Estimates, 2018.
In addition to overpayment problems faced by seniors due to their relatively fixed incomes, many seniors
are faced with various disabilities. In 2018, the American Community Survey (ACS) reported 4,134 seniors
with disabilities. Among these disabilities, the most common were ambulatory disabilities, independent
living disabilities and hearing disabilities.
Challenges and Resources to Address Senior Housing Needs
Seniors in Newport Beach generally have exhibited the following unique challenges to housing:
• Having Limited and fixed incomes,
• Disproportionately higher healthcare costs, adding monthly living costs
• Higher incidence of mobility and self -care limitations requiring customized housing features
• Transit dependency
• Limited in -home support, due to living alone.
To address these challenges, the City must consider a variety of solutions to address the above issues:
these may include:
• More affordable housing options for Seniors
• Supportive City programs to help sustain decent, safe and affordable housing for dependent
Seniors.
• Housing with included supportive services
• Group Homes options for persons with self -care limitations
Resources currently available at the City includes a robust Senior Services program.
Section 2: Community Profile (September 2022 Final Housing Element) 2-19
City of Newport Beach
2021-2029 HOUSING ELEMENT
Section 3.C.3 of this Housing Element includes an analysis on deed -restricted affordable housing units and
affordable units at -risk of converting to market -rate. The City of Newport Beach currently has one
affordable housing project for senior residents. Seaview Lutheran Plaza includes 100 deed -restricted
affordable housing units reserved for extremely low and very low-income seniors through 2039; it is not
considered at -risk of converting to market -rate over the next 10 years.
To address unique needs of senior residents living in the City, the following three programs have been
included in Section 4:
• Policy Action 613: Repair Loans and Grant Programs for Seniors, Persons with Physical and
Developmental Disabilities and Lower -Income Households
• Policy Action 6E: Housing Assistance for Seniors
• Policy Action 6G: Senior Housing Priority Program
The City will continue providing housing resources to its senior population through community
partnerships and by facilitating the development of senior housing units.
Dersons with Physical and Develoomental Disabilities
Physical and developmental disabilities can hinder access to traditionally designed housing units, as well
as potentially limit the ability to earn adequate income. Physical, mental, and/or developmental
disabilities may deprive a person from earning income, restrict one's mobility, or make self -care difficult.
Thus, persons with disabilities often have special housing needs related to limited earning capacity, a lack
of accessible and affordable housing, and higher healthcare costs associated with a disability. Some
residents suffer from disabilities that require living in a supportive or institutional setting.
Although no current comparisons of disability with income, household size, or race/ethnicity are available,
it is reasonable to assume that a substantial portion of persons with disabilities would have annual
incomes within Federal and State income limits. Furthermore, many lower -income persons with
disabilities are likely to require housing assistance and services. Housing needs for disabled persons are
further compounded by design issues and location factors, which can often be costly. For example, special
needs of households with wheelchair -bound or semi -ambulatory individuals may require ramps, holding
bars, special bathroom designs, wider doorways, lower cabinets, elevators, and other interior and exterior
design features.
Housing opportunities for persons with disabilities can be addressed through the provision of affordable,
barrier -free housing. Rehabilitation assistance can be targeted toward renters and homeowners with
disabilities for unit modification to improve accessibility.
As addressed in Table 2-20, the 2018 ACS identifies six disability types: hearing disability, vision disability,
cognitive disability, ambulatory disability, self -care disability and independent living disability. The Census
and the ACS provide clarifying questions to determine persons with disabilities and differentiate
disabilities within the population.
Section 2: Community Profile (September 2022 Final Housing Element) 2-20
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table 2-20: Disabilitv Status. 2018
Under 18
18 to 64
65 years and
Percent of
percent of
Disability Type
with a
with a
Over with a
Total
Population
Total
with
Disability
Disability
Disability
Disability
population
Population with a
Hearing Difficulty
96
402
1,832
2,330
33.6%
2 7%
Population with a
Vision Difficulty
60
561
909
1,530
22%
1.8%
Population with a
Cognitive Difficulty
398
962
1,155
2,515
36.2%
2 9%
Population with an
Ambulatory Difficulty
72
705
2,411
3,188
45.9%
3.7%
Population with a
Self -care Difficulty
112
406
894
1,412
20.3%
1.6%
Population with an
independent Living
--
714
1,885
2,599
37.4%
3%
Difficulty
Total
480
2,329
4,134
6,943
100%
86,015
*This number may double count as some persons report having one or more disabilities, therefore this total number differs
from the total number of persons with a disability in Table 2-18.
Source: American Community Survey, 5-Year Estimates, 2018.
The ACS defines a disability as a report of one of the six disabilities identified by the following questions:
• Hearing Disability: Is this person deaf or does he/she have serious difficulty hearing?
• Visual Disability: Is this person blind or do they have serious difficulty seeing even when wearing
glasses?
• Cognitive Difficulty: Because of a physical, mental, or emotional condition, does this person have
serious difficulty concentrating, remembering, or making decisions?
• Ambulatory Difficulty: Does this person have serious difficulty walking or climbing stairs?
• Independent Living Difficulty: Because of a physical, mental, or emotional condition, does this
person have difficulty doing errands alone such as visiting a doctor's office or shopping?
State law requires that the Housing Element discuss the housing needs of persons with developmental
disabilities. As defined by federal law, "developmental disability" means a severe, chronic disability of an
individual that:
• Is attributable to a mental or physical impairment or combination of mental and physical
impairments;
• Is manifested before the individual attains age 22;
• Is likely to continue indefinitely;
Section 2: Community Profile (September 2022 Final Housing Element) 2-21
City of Newport Beach _
• Results in substantial functional limitations in three or more of the following areas of major life
activity: a) self -care; b) receptive and expressive language; c) learning; d) mobility;
e) self -direction; f) capacity for independent living; or g) economic self-sufficiency; and
• Reflects the individual's need for a combination and sequence of special, interdisciplinary, or
generic services, individualized supports, or other forms of assistance that are of lifelong or
extended duration and are individually planned and coordinated.
Per Section 4512 of the Welfare and Institutions Code a "developmental disability" means a disability that
originates before an individual attains age 18 years, continues, or can be expected to continue,
indefinitely, and constitutes a substantial disability forthat individual which includes intellectual disability,
cerebral palsy, epilepsy, and autism. This term also includes disabling conditions found to be closely
related to intellectual disability or to require treatment like that required for individuals with intellectual
disability but shall not include other handicapping conditions that are solely physical in nature.
According to the Regional Center of Orange County's (RCOC) Total Annual Expenditures and Authorized
Services for Fiscal Year 2019-2020, a total of 25,163 individuals received services. RCOC represents the
fifth -largest regional center in California and has over 300 service coordinators. Of those who received
services, 31.6 percent reported their race as White, 16 percent reported Asian, 16.1 percent reported
Other Ethnicity or Race/Multi-Cultural, and 2 percent reporter Black/African American. Approximately
34 percent of those who received services also reported their ethnicity as Hispanic or Latino. Ages of the
25,163 individuals includes 21.1 percent 2 years or younger, 39.9 percent 3 to 21 years, and 39 percent
over the age of 22. The majority of those who received services lived at the home of a parent or guardian
(82.3 percent), but 6.8 percent live in a Community Care Facility and 5.6 percent live in Independent Living
or Supported Living. Diagnosis reported by the individuals who received services include the following:
• Intellectual Disability: 37.6%
• Autism:31%
• Cerebral Palsy: 2.5.%
• Epilepsy:1
• Category 5: 3.9%
• Other:24.1%
For Newport Beach, the California Department of Developmental Services provides estimates of persons
with developmental disabilities in Newport Beach. As of June 2019, 232 juvenile persons have been and
123 adults have been identified as have a developmental disability. The majority of these residents are
juveniles who live at home with a parent or guardian.
Section 2: Community Profile (September 2022 Final Housing Element) 2-22
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table 2-21 Developmental Disabilitv Status. 2019
Disability Type
# of
Residents
BY RESIDENT
Home of Parent/Guardian
202
Independent/Supported Living
15
Community Care Facility
5
Intermediate Care Facility
0
Foster/Family Home
10
Other
0
BY AGE
0-17 Years Old
232
18* Years Old
123
CA DDS data by ZIP Code, June 2019.
Many people with developmental disabilities can live and work independently within a conventional
housing environment. Individuals with more severe developmental disabilities may require a group living
environment where supervision is provided. The most severely affected individuals may require an
institutional environment where medical attention and physical therapy are provided. Because
developmental disabilities exist before adulthood, the first issue in supportive housing for persons with
developmental disabilities is the transition from the person's living situation as a child to an appropriate
level of independence as an adult.
There are several housing types appropriate for people living with a development disability: rent -
subsidized homes, licensed and unlicensed single -unit homes, inclusionary housing, Section 8 vouchers,
special programs for home purchase, Department of Housing and Urban Development (HUD) housing,
and SB 962 (veterans) homes. The design of housing -accessibility modifications, the proximity to services
and transit, and the availability of group living opportunities represent some of the types of considerations
that are important in serving the needs of this group. Incorporating 'barrier -free design in all, new multi-
unit housing (as required by California and Federal Fair Housing laws) is especially important to provide
the widest range of choices for residents with disabilities. Special consideration should also be given to
the affordability of housing, as people with disabilities may be living on a fixed income.
Key Challenges and Resources to Address Persons with Physical and Developmental Disabilities
Persons with physical and developmental disabilities in Newport Beach have exhibited the following
unique challenges to housing:
• Need for specialized housing to accommodate disabilities
• Need for supportive services
• Higher incidence of dependent living needs
Section 2: Community Profile (September 2022 Final Housing Element) 2-23
City of Newport Beach _ P
2021-2029 HOUSING ELEMENT
_ -
• High incidence of unemployment
To address these challenges, the City must consider a variety of solutions to address the above issues:
these may include:
• Regional coordination and support for services
• Permitting of housing for persons with disabilities
• Prioritization of services for disabled persons
• Local supportive services to supplement physical housing needs
• Housing regulations/accommodation of unique housing needs
• Group Homes options for persons with self -care limitations
Resources to address the above needs include local General Fund revenue to fund Policy Actions described
in Chapter 4, and partnership with the Orange County Regional Center, who provides and coordinates
lifelong support and services to persons with disabilities. The City's existing permit procedures, regulations
and policies further support physical and developmental disabilities through the granting of uses and
facilities to accommodate the needs of persons disabilities. The City also has a reasonable
accommodation procedure that is intended to grant accommodations for persons with disabilities with
the expressed intent not to cause additional cost to the requestee.
The City has included Policy Action 7C in Section 4 to address housing needs for persons with
developmental disabilities. The City will review and prioritize housing and supportive services for persons
with developmental disabilities, as well as explore regulatory incentives for projects that address the
needs of persons with developmental disabilities.
Large Households
Large households are defined as those consisting of five or more members. These households comprise
a special need group because many communities have a limited supply of adequately sized and affordable
housing units. To save for other necessities such as food, clothing, and medical care, it is common for
lower -income large households to reside in smaller units with inadequate number of bedrooms, which
frequently results in overcrowding and can contribute to fast rates of deterioration.
Securing housing large enough to accommodate all members of a household is more challenging for
renters because multi -unit rental units are typically physically smaller than single -unit ownership homes.
While apartment complexes offering two and three bedrooms are common, apartments with four or more
bedrooms are rare. It is more likely that large households will experience overcrowding in comparison to
smaller households. Additionally, throughout the region, single -unit homes with higher bedroom counts,
whether rental or ownership units, are rarely affordable to lower -income households.
Table 2-22 outlines the number of large households in the City by tenure and household size. As is shown,
the vast majority of large households are owner -occupied rather than rented (71.3 percent and
28.7 percent respectively). There are very few households with 7 or more persons in owner -occupied
homes and none in rentals. Amongst all rental homes, 2.5 percent are 5-person households and amongst
owned homes 4.4 percent are 5-person households.
Section 2: Community Profile (September 2022 Final Housing Element) 2-24
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table 2-22: Large Households by Tenure, 2017
Owner
Renter
Total
Household Size
Percent of Total
Percent of Total
Percent of
Count
Count
Count
Owner HHs
Renter HHs
Total HHs
5-Person
933
4.4%
417
2.5%
1,350
3.6%
Household
6-person
398
1.9%
93
0.6%
491
1.3%
Household
7+ person
56
0.3%
48
0.3%
104
0.3%
Households
Total
1,387
71.3%
558
28.7%
1,945
100%
Source: American Community Survey, 5-Year Estimates, 2018.
Key Challenges and Resources to Address Large Person Households
Large Person Households in Newport Beach have exhibited the following unique challenges to housing:
• Lack of available housing with sufficient bedroom counts
• Options for larger bedroom counts in rental units
• Higher monthly cost burdens
• Affordable options for large family households
• Childcare needs for working families
To address these challenges, the City must consider a variety of solutions to address the above issues:
these may include:
• Permitting of larger bedroom counts in ownership and rental units
• Affordable housing options for large family households
• Prioritization of family -sized units in affordable housing developments
• Leveraging of Grant/Funding opportunities
Resources to address the above needs include Policy Actions that support the leveraging of LIHTC
opportunities, State, Federal and private funds focused on multiple family development. Regional
resources include OCHFA, SCHFA funding, Orange County Continuum of Care and Orange County Housing
Authority Funding. The City has included Policy Actions IA -IF, 4C, 4D and 6C,6D that will provide
standards and provisions that will support the provision of larger sized family units.
4. Sinale-Parent Household,
Single -parent households often require special consideration and assistance due to their greater need for
affordable and accessible daycare, health care, and other supportive services. Many female -headed
households with children are susceptible to having lower -incomes than similar two -parent households.
Single, female mothers often face social marginalization pressures that often limit their occupational
choices and income earning potential, housing options and access to supportive services.
Section 2: Community Profile (September 2022 Final Housing Element) 2-25
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table 2-23 shows there are few single parent households in Newport Beach (3.6 percent) as compared to
7.4 percent in Orange County. Most single -parent households in both the City and Orange County are
headed by females without a spouse present— 68.9 percent in Newport Beach and 70.5 percent in Orange
County. The percentage of single parents living in poverty in the City is half that of the regional percentage.
Table 2-23: Single Parent Households
Single Parent-
Single Parent
Single Parent -Male,
Single Parent
Female, No Spouse
Households Living
No Spouse Present
Households
Jurisdiction
Present
in Poverty
of Single
% of Single
% of Single
% of Total
Count
parent HH
Count
parent HH
Count
parent HH
Count
Households
Newport Beach
422
31.1%
936
68.9%
183
13.5%
1,358
3.6%
Orange County
22,456
29.5%
53,659
70.5%
22,999
30.2%
76,115
7.4%
Source: American Community Survey, 5-Year Estimates, 2018,
Key Challenges and Resources to Address Single Parent Households
Single Parent Households in Newport Beach have exhibited the following unique challenges to housing:
• Affordable Housing Options
• Rental and For Sale Housing Options
• Higher monthly cost burdens with one income families
• Childcare needs for working families
To address these challenges, the City must consider a variety of solutions to address the above issues:
these may include:
• Affordable housing options for single income families
• Accessibility to childcare options
• Leveraging of Grant/Funding opportunities
With incidents of single parent households at half the rate compared to Orange County, the city believes
the existing opportunities and policies related to affordable housing options, childcare access and
leveraging of funding will provide the necessary resources to address the needs of this segment of the
population.
5. Farmworkers
Farmworkers are traditionally defined as persons whose primary incomes are earned through permanent
or seasonal agricultural labor. Permanent farm laborers work in the fields, processing plants, or support
activities on a generally year-round basis. When workload increases during harvest periods, the labor
force is supplemented by seasonal workers, often supplied by a labor contractor. For some crops, farms
may hire migrant workers, defined as those whose travel prevents them from returning to their primary
residence every evening. Farmworkers have special housing needs because they earn lower -incomes than
many other workers and move throughout the year from one harvest location to the next.
Section 2: Community Profile (September 2022 Final Housing Element) 2-26
City of Newport Beach
2021-2029 HOUSING ELEMENT
The United States Department of Agriculture, National Agriculture Statistics provides data on hired farm
labor across the United States. The data is compiled at both a State and County level. Within Orange
County, a total of 99 farms reportedly hired 1,772 workers in 2017. Permanent workers, those who work
150 days or more, represent the largest category of workers with 1,106 workers (62 percent). A total of
666 workers (38 percent) are considered seasonal and work less than 150 days. Orange County reported
340 migrant workers (19 percent) with full time hired labor in 2017. In addition, the County reported
176 unpaid workers.
2018 ACS 5-Year Estimates data reports a total of 72 Newport Beach residents employed full time, year
round in the agriculture, forestry, fishing, hunting, and mining industry. Fourteen (14) residential are
employed full time in farmworkers jobs. These are most likely very small local operations and not large
scale farming activities .The median annual wage forthese industries is $27,472 and falls below 50 percent
of the median income for Orange County (32 percent).
Key Challenges and Resources to Address Farmworker Housing Needs
Farmworker Households in Newport Beach have exhibited the following unique challenges to housing:
• Affordable Housing Options
• Higher incidents of cost burden for housing
• Rental and For Sale Housing Options
• Childcare needs for working families
Similar to other special needs groups, Farmworkers needs are focused on affordability of housing and
access to services that support lower monthly overall costs. To address these challenges, the City must
consider a variety of solutions to address the above issues: these may include:
• Affordable housing options for farmworkers
• Accessibility to childcare options
• Leveraging of Grant/Funding opportunities
With incidents of Farmworker households representing less than one half of one percent, the city believes
the existing opportunities and policies related to affordable housing options, childcare access and
leveraging of funding will provide the necessary resources to address the needs of this segment of the
population will assist in the needs for farmworkers citywide.
'5. Extremely Low-income Households and Povertv Status
The 2013-2017 Comprehensive Housing Affordability Strategy (CHAS) indicates that there are 3,270 low-
income households living in Newport Beach. Very low-income households earn 50 percent or less of the
area median family income (AMFI) for Orange County. Extremely low-income households earn less than
30 percent of the AMFI. There are approximately 3,855 extremely low-income households in the City,
including both renters and homeowners. Table 2-23 below shows a breakdown of housing problems for
Newport Beach households by income category.
Section 2: Community Profile (September 2022 Final Housing Element) 2-27
City of Newport Beach _
Table 2-24 shows that about 10 percent more renters live with at least one housing problem. More lower -
income renters report a housing problem - 9.2 percent with extremely low-income, 10.6 percent with
very low-income, and 12.5 percent with low-income. About 45 percent of renters experience one or more
housing problems. Homeowners typically report less of a cost burden than renters. In Newport Beach,
35.3 percent of homeowners have at least one housing problem. The majority of those are in above -
moderate -income households (15.9 percent). In total, for both renters and homeowners, 39.5 percent of
households have at least one housing problem.
While representing only 0.8 percent of the Newport Beach population, people who identify as Black have
the highest rates of poverty in the City, as illustrated in Figure 2-6. Similarly, American Indian/Alaska
Natives and Native Hawaiian/other Pacific Islanders make up the smallest population percentages
(0.3 percent and 0.2 percent, respectively) and together account for over 20 percent of those living below
the poverty line. Values in the bar graph below contrasted to racial and ethnic composition of the City
illustrate critical differences in housing needs.
To calculate the projected housing needs, the City assumed 50 percent of its very low-income regional
housing need are extremely low-income households. Calculating from the very low-income need of 1,456
units, the City has an estimated need of 728 housing units for extremely low-income households.
Extremely low-income household needs will likely be focused to rental housing and more likely to
experience overpayment, overcrowding or substandard housing conditions and more likely to include
transitional and supportive housing.
Table 2-24: Housing Problems for All Households by Income Categorv, 2013-2017
Owner
Income Category
Household has at
% of
Household has
% of
Cost Burden not
% of
least 1 of 4
Owner
none of 4 Housing
Owner
available, no other
Owner
Housing Problems
HH
Problems
HH
Housing Problem
HH
Household Income is
1,335
6.2%
65
0.3%
175
0.8%
less -than or = 30%
Household Income
>30% to less -than or =
1,020
4.7%
290
1.3%
0
0.0%
50% AMFI
Household Income
>50% to less -than or =
1,215
5.6%
705
3.3%
0
0.0%
80% AMFI
Household Income
>80% to less -than or =
615
2.8%
370
1.7%
0
0.0%
100% AMFI
Household Income
3,450
15.9%
12,405
57.3%
0
0.0%
>100% AMFI
Total
7,635
35.3%
13,835
63.9%
175
0.8%
Household Income is
1,500
9.2%
170
1.0%
610
3.7/ °
less -than or = 30%
Section 2: Community Profile (September 2022 Final Housing Element) 2-28
City of Newport Beach
2021-2029 HOUSING ELEMENT
Owner
Income Category
Household has at
% of
Household has
% of
Cost Burden not
% of
least 1 of 4
Owner
none of 4 Housing
Owner
available, no other
Owner
Housing Problems
HH
Problems
HH
Housing Problem
HH
Household Income
>30% to less -than or =
1,725
10.6%
235
1.4%
0
0.0%
50% AMFI
Household Income
>50% to less -than or =
2,040
12.5%
510
3.1%
0
0.0%
80% AMFI
Household Income
>80% to less -than or =
885
5.4%
425
2.6%
0
0.0%
100% AMFI
Household Income
1,205
7.4%
7,025
43.0%
0
0.0%
>100% AMFI
Total
7,355
45.1%
8,365
51.2%
610
3.7%
Total Households
14,990
39.5%
22,200
58.5%
785
2.1%
(Owner and Renter)
* The four housing problems are: incomplete kitchen facilities, incomplete plumbing facilities, more than 1 person per room, and cost
burden greater than 30%.
** The four severe housing problems are: incomplete kitchen facilities, incomplete plumbing facilities, more than 1.5 persons per room,
and cost burden greater than 50%.
Note: AMFI = Area Median Family Income, this is the median family income calculated by HUD for each jurisdiction, to determine Fair
Market Rents (FMRs) and income limits for HUD programs. AMFI will not necessarily be the same as other calculations of median incomes
(such as a simple Census number), due to a series of adjustments that are made.
Source: Source: U.S. Department of Housing and Urban Development (HUD), Comprehensive Housing Affordability Strategy (CHAS) 2013-
2017.
Figure 2-6: Percent below Poverty Level, by Race and Hispanic or Latino Origin
25%
20%
15%
10%
5%
0%
White Black American Asian Native Some Two or Hispanic or
Indian and Hawaiian Other Race More Latino
Alaska and Other Races
Native Pacific
Islander
Source: American Community Survey, 5-Year Estimates, 2018.
Note: The chart reports percentage of own population who are reported to have incomes below poverty level.
Section 2: Community Profile (September 2022 Final Housing Element) 2-29
City of Newport Beach
2021-2029 HOUSING ELEMENT
Housing Extremely Low Income households (those with incomes less than 30% of the County Median
income) are generally challenging in Newport Beach, Extremely Low Income Housing Needs. Table 2-25
illustrates there are 3,984 persons in Newport Beach with incomes less than 30% of the Area Median
Income. Persons of Hispanic origin experience the highest rates of extremely low income, represent
14.3% of the total Extremely Low Income Population. This income category is generally distributed evenly
amongst racial groups. Renters tend to have a higher incidents of Extremely Low Income in Newport
Beach.
Table 2-25: Extremely Low Income Household Needs
# Households <30% MFI
% Share <30% MFI
White, Non -Hispanic
3185
10.1%
Black, Non -Hispanic
15
8.2%
Asian and Other Non -Hispanic
449
12.6%
Hispanic
335
14.3%
TOTAL
3984
10.6%
Renter Occupied
2385
14.4%
Owner Occupied
1600
7.6%
Source: HUYD CHAS, 2012-2016
Challenges and Resources to Address Farmworker Housing Needs
Extremely Low Income Households in Newport Beach have exhibited the following unique challenges to
housing:
• Need for increased affordable housing options
• Markedly Higher incidents of cost burden for housing
• Need for smaller housing unit options such as SRO's
• Rental Assistance
• Higher incidents of homelessness
• Higher likelihood for transitional and supportive housing
Extremely Low income household needs are focused on affordability of housing and access to subsidies
and services that support lower monthly overall costs. To address these challenges, the City must
consider a variety of solutions to address the above issues: these may include:
• Affordable housing options for Extremely Low Income households
• Preservation of subsidized housing units
• Creation of additional subsidized housing units
• Inclusionary policies
• Housing with a service component
• Transitional, Supportive and Homeless housing options
Section 2: Community Profile (September 2022 Final Housing Element) 2-30
City of Newport Beach
2021-2029 HOUSING ELEMENT
Resources to address the needs of Extremely Low Income households include a variety of federal, state
and regional programs, such as Section 8, HUD, LIHTC USDA, CalHFA and other public and private funding
sources.
The City has included Policy Action 713 in Section 4 to address transitional and supportive housing needs
for extremely low income persons. The City will continue to monitor the inventory of sites appropriate to
accommodate extremely low income households, transitional and supportive housing and will work with
the appropriate organizations to ensure the needs of homeless and extremely low-income residents are
met. The City is committed to prioritizing funding and other available incentives for projects that provide
housing for homeless and extremely low-income residents whenever possible.
7, Persons Experiencing Homelessness
Throughout the country and Orange County region, homelessness has become an increasingly important
issue. Factors contributing to the rise in homelessness include, increased unemployment and
underemployment, a lack of housing affordable to lower and moderate -income persons (especially
extremely low-income households), reductions in public subsidies to the poor, and the de -
institutionalization of the mentally ill.
State law mandates that cities address the special needs of persons experiencing homelessness within
their jurisdictional boundaries. "Homelessness" as defined by the U.S. Department of Housing and Urban
Development (HUD) has recently been updated, the following lists the updated descriptions and the
changes in the definition from HUD:
• People who are living in a place not meant for human habitation, in emergency shelter, in
transitional housing, or are exiting an institution where they temporarily resided. The only
significant change from existing practice is that people will be considered homeless if they are
exiting an institution where they resided for up to 90 days (it was previously 30 days) and were in
shelter or a place not meant for human habitation immediately prior to entering that institution.
• People who are losing their primary nighttime residence, which may include a motel or hotel or a
doubled -up situation, within 14 days and lack resources or support networks to remain in housing.
HUD had previously allowed people who were being displaced within 7 days to be considered
homeless. The proposed regulation also describes specific documentation requirements for this
category.
• Families with children or unaccompanied youth who are unstably housed and likely to continue
in that state. This is a new category of homelessness, and it applies to families with children or
unaccompanied youth who have not had a lease or ownership interest in a housing unit in the last
60 or more days, have had 2 or more moves in the last 60 days, and who are likely to continue to
be unstably housed because of disability or multiple barriers to employment.
• People who are fleeing or attempting to flee domestic violence, have no other residence, and lack
the resources or support networks to obtain other permanent housing. This category is similar to
the current practice regarding people who are fleeing domestic violence.
Section 2: Community Profile (September 2022 Final Housing Element) 2-31
City of Newport Beach
This definition does not include persons living in substandard housing (unless it has been officially
condemned); persons living in overcrowded housing (for example, doubled up with others); persons being
discharged from mental health facilities (unless the person was homeless when entering and is considered
to be homeless at discharge); or persons who may be at risk of homelessness (for example, living
temporarily with family or friends.)
The Point in Time Count is conducted by the County of Orange in accordance with the U.S. Department of
Housing and Urban Development (HUD) guidelines to provide information on where individuals
experiencing homelessness are in the County. About 1,167 volunteers across the County counted
6,860 individuals experiencing homelessness. Of those, 2,899 were sheltered and 3,961 were unsheltered.
The 2020 Count is not yet available online, therefore this data is based on the Count conducted in
January 2019 — the individual city results are shown in Table 2-26. Of the nearby cities, Newport Beach
had the lowest count and percentage of people experiencing homelessness (64 individuals and 0.9 percent
of the County). Huntington Beach recorded the greatest percentage at 5.1 percent. Of all those reported
in Orange County, 5 percent were veterans, 4 percent were transitional youth ages 18 to 24, and 9 percent
were seniors over the age of 65.
Table 2-26: Homeless Count by Jurisdiction, 2019
Jurisdiction
Unsheltered
Sheltered
Total
% of County
Costa Mesa
187
6
193
2.8%
Newport Beach
64
0
64
0.9%
Huntington Beach
289
60
349
5.1%
Laguna Beach
71
76
147
2.1%
Irvine
127
3
130
1.9%
Orange County
3,961
2,899
6,860
100%
Source: Orange County Point in Time Count, Everyone Counts Report 2019.
Key Challenges and Resources to Address Persons Experiencing Homelessness
The City has taken steps to address the very complex issue of homelessness. City staff and City Net, a
contractor that assists with community outreach and case management services, work in collaboration to
engage these individuals and connect them with services such as emergency housing, mental and health
care, benefits counseling and a variety of other community -based programs and services.
The City also has a dedicated, full-time police officer and a homeless coordinator who focus on the issue
of homelessness. The Homeless Liaison Officer works closely with the County of Orange Health Care
Agency's case management staff and City Net to provide homeless outreach services. The uniqueness of
each homeless individual's situation requires an individual approach. Since everyone's needs are different,
our staff works with our homeless individuals on a case -by -case basis.
It is important to understand that often, individuals are resistant to seeing case workers or our police
officers assigned to work with those experiencing homelessness. Multiple visits may be required before
Section 2: Community Profile (September 2022 Final Housing Element) 2-32
City of Newport Beach
2021-2029 HOUSING ELEMENT
we gain a person's trust in a way that opens a conversation about solutions. That is why, in addition to
our full-time officer, the City has contracted with City Net to provide homeless outreach services. Street
outreach services seeks to connect unsheltered homeless individuals with emergency shelter, housing,
critical services, healthcare, or urgent, non -facility -based care.
Newport Beach has entered a partnership with the adjacent City of Costa Mesa for shelter beds at the
Costa Mesa Bridge Shelter, which opened in Spring 2021. In addition to temporary housing, the Bridge
Shelter provides case workers who assist homeless individuals with addiction and mental health
counseling, job searches, and accessing permanent housing.
The City has included Policy Action 6A to address the needs of persons experiencing homelessness. The
Policy Action continues the City's efforts to fund sub -recipients who provide shelter and services to
persons experiencing homelessness. In addition, Policy Action 7A and 713 address supportive and
transitional housing and low barrier navigation center needs for persons experiencing homelessness.
8. Students
Student housing often only produces a temporary housing need based on the duration of the educational
institution enrolled in. The impact upon housing demand is critical in areas that surround universities and
colleges. Located in Newport Beach is Coastline College, and colleges near the City include University of
California, Irvine; Concordia University; Orange Coast College; Vanguard University; Laguna College of Art
and Design; SOKA University; and Irvine Valley College. Students enrolled in undergraduate and graduate
programs, make up about 6 percent of the total population of Newport Beach.
Key Challenges and Resources to Address Student Housing Needs
Typically, students are low-income and are, therefore, affected by a lack of affordable housing, especially
within easy commuting distance from campus, therefore it is important for the City to consider and
accommodate the student population within the community. They often seek shared housing situations
to decrease expenses and can be assisted through roommate referral services offered on and off campus.
A lack of affordable housing also influences choices students make after graduating.
The characteristics of the housing stock, including growth, type, availability and tenure, age and condition,
housing costs, and affordability contribute to the housing needs for the community. This section details
the housing characteristics of Newport Beach to identify how well the current housing stock meets the
needs of its current and future residents.
1. Housina Growth
According to the American Community Survey (ACS), the City's housing stock grew by 1,298 units between
2010 and 2018 (Table 2-27). This 2.9 percent increase was the second largest in this area, behind the City
of Irvine which had a dramatically larger gain of 31 percent. Orange County as a whole experienced a
Section 2: Community Profile (September 2022 Final Housing Element) 2-33
City of Newport Beach
2021-2029 HOUSING ELEMENT
4.6 percent housing stock increase during this same time period, which is 1.7 percent more than
Newport Beach. The City of Costa Mesa had smaller percent change than Newport Beach by 2.3 percent.
Table 2-27: Housing Unit Growth Trends. 2010-2018
Jurisdiction
2010
2015
2018
Percent
Change 2010
to 2015
Percent
Change 2015
to 2018
Costa Mesa
42,867
43,030
43,100
0.4%
0.2%
Newport Beach
43,503
43,690
44,801
0.4%
2.5%
Huntington Beach
79,166
78,252
81,396
-1.2%
4.0%
Laguna Beach
13,243
13,433
13,487
1.4%
0.4%
Irvine
76,184
91,938
101,434
20.7%
10.3%
Orange County
1,042,254
1,064,642
1,091,376
2.1%
2.5%
Source: American Community Survey, 5-Year Estimates, 2010, 2015, and 2018.
2. Housing Type
Table 2-28 is a breakdown of housing units by type in Newport Beach in contrast to Orange County. The
table reflects data from the American Community Survey which is estimates based on the U.S. Census and
surveys. A large percentage of housing units in the City come from single unit detached homes (47.8
percent). Single unit attached homes typically do not take up a large portion of the housing stock, but in
Newport Beach they account for 16.1 percent of all units. Another 34.5 percent is multi -unit housing,
which is the same for the County as well. Mobile homes are the smallest category of housing types with
1.5 percent of all units. It is important to provide a wide variety of housing types throughout the City in
order to ensure all housing needs for the population are met.
Table 2-28: Total Housing Units by Tvpe
Single -Unit Detached
Single -Unit Attached
Multi -Unit
Mobile Homes
Jurisdiction
Count
Percent
Count
Percent
Count
Percent
Count
Percent
Newport Beach
21,399
47.8%
7,234
16.1%
15,437
34.5%
390
1.5%
Orange County
553,164
50.7%
133,326
12.2%
374,176
34.3%
30,227
2.8%
Source: American Community Survey, 5-Year Estimates, 2018.
3. Housing Availability and Tenure
Housing tenure and vacancy rates generally influence the supply and cost of housing. Housing tenure
defines if a unit is owner -occupied or renter occupied. Tenure is an important market characteristic as it
relates to the availability of housing product types and length of tenure. The tenure characteristics in a
community can indicate several aspects of the housing market, such as affordability, household stability,
Section 2: Community Profile (September 2022 Final Housing Element) 2-34
City of Newport Beach _
and availability of unit types, among others. In many communities, tenure distribution generally
correlates with household income, composition, and age of the householder.
In 2018, owner -occupied units accounted for 56.5 percent of the Newport Beach housing stock and
43.5 percent were rentals (Table 2-29). Of the owner -occupied units, the large majority were single unit
detached homes (71.6 percent) and the smallest percentage was of mobile homes (1.1 percent). As is
often the case, multi -unit homes accounted for over half of all rentals (67.9 percent) and only 17 percent
of rental units were single unit detached homes. Mobile homes are more likely to be occupied by renters,
as the Table 2-27 shows.
Table 2-29: Occupied Housing Units by Tvoe and Tenure
Single- Unit
Single -Unit
Mobile
Total Occupied
Tenure
Detached
Attached
Multi -Unit
Homes
Units'
Owner
71.6%
19.5%
7.8%
1.1%
56.5%
Occupied
Renter
17.1%
12.7%
67.9%
2.2%
43.5%
Occupied
Total
47.9%
16.5%
34.1%
1.6%
100%
'Note: The data shows the percent of total occupied units.
Source: American Community Survey, 5-Year Estimates, 2018.
Table 2-30: Average Household Size by Tenure, 2018
Jurisdiction
Owner Occupied
Households (% of
Total Households)
Average Owner
Household Size
Renter Occupied
Households (% of
Total Households)
Average Renter
Household Size
Costa Mesa
39.1%
2.8
60.9%
2.7
Newport Beach
56.5%
2.5
43.5%
2
Huntington Beach
57.8%
2.6
42.2%
2.6
Laguna Beach
60.7%
2.3
39.3%
2
Irvine
47.3%
2.8
52.7%
2.6
Orange County
57.4%
3
42.6%
3.1
Source: American Community Survey, 5-Year Estimates, 2018.
To identify housing trends and potential population needs, Table 2-30 compares average household sizes
and tenure amongst the cities surrounding Newport Beach. Renters in the City have one of the lowest
average household sizes at just 2 people per home. Homeowners in Newport Beach also have the second
smallest number of people per household after Laguna Beach with 2.3 people per home. The County
average is 3.1 persons for rentals and 3 persons for owner -occupied homes. Figure 2-7 illustrates vacancy
rates by jurisdiction and shows that Newport Beach has the second largest percentage of vacant homes
at 15.5 percent. The City's vacancy rate is 3 times that of Orange County.
Vacancy rates indicate the degree of choice available. High vacancy rates usually indicate low demand
and/or high supply conditions in the housing market. Too high of a vacancy rate can be difficult for owners
trying to sell or rent. Low vacancy rates usually indicate high demand and/or low supply conditions in the
housing market. Too low of a vacancy rate can force prices up making it more difficult for lower and
Section 2: Community Profile (September 2022 Final Housing Element) 2-35
City of Newport Beach
2021-2029 HOUSING ELEMENT
moderate -income households to find housing. Vacancy rates of between 2 to 3 percent are usually
considered healthy for single -unit or ownership housing, and rates of 5 to 6 percent are usually considered
healthy for multi -unit or rental housing.
Figure 2-7: Vacancy Rate by Jurisdiction, 2018
25.0%
20.0%
15.0%
10.0%
5.0%
°
0.0 /°
Newport Huntington Laguna Orange
Costa Mesa Beach Beach Beach Irvine County
Vacancy Rate 4.8% 15.5% 5.6% 21.8% 6.0% 5.4%
Source: American Community Survey, 5-Year Estimates, 2018.
The most common reason for vacancies in Newport Beach is due to homes being used seasonally, or for
recreation or occasional use (48.3 percent), as shown in Table 2-31 These 3,350 homes are not permanent
residences and remain empty for most of the year. Homes for rent are the second most common reason
for vacancies in the City at 22.4 percent.
Table 2-31: Twe of Vacant Housing Units in Newport Beach
Type of Housing
Estimate
Percent
For rent
1,551
22.4%
Rented, not occupied
292
4.2%
For sale only
370
5.3%
Sold, not occupied
499
7.2%
For seasonal, recreational, or occasional use
3,350
48.3%
Other vacant
869
12.5%
Total
6,931
100%
Source: American Community Survey, 5-Year Estimates, 2018.
4. Housing Age and Condition
Housing age can be an indicator of housing condition within a community. For example, housing that is
over 30 years old is typically in need of some major rehabilitation, such as a new roof, foundation,
plumbing, etc. Many federal and state programs also use the age of housing as one factor in determining
housing rehabilitation needs.
Section 2: Community Profile (September 2022 Final Housing Element) 2-36
City of Newport Beach
2021-2029 HOUSING ELEMENT
In Newport Beach, most homes were built over 30 years ago (Figure 2-8). About 22.3 percent of the
housing stock was built between 1970 and 1979, while only 2.7 percent was built after 2010. Another
8 percent of homes were also built prior to 1950. This reflects an aging housing stock that may need
certain updates.
Figure 2-8: Age Distribution of Housing Stock
25%
20%
15%
10%
5%
1
1
o
0 /o
Built
Built Built
Built
Built
Built
Built
Built
Built
Built
2014 or
2010 to 2000 to
1990 to
1980 to
1970 to
1960 to
1950 to
1940 to
1939 or
later
2013 2009
1999
1989
1979
1969
1959
1949
earlier
■ Newport Beach
1.1 %
1.6% 10.8%
14.2%
11.2%
22.3%
19.0%
11.7%
3.7%
4.3%
Source: American Community Survey, 5-Year Estimates, 2018
Figure 2-9 below displays the 2018 ACS data for housing units by the year they were built sorted by tenure.
According to the data, Newport Beach has mostly had a majority of owner -occupied units. The majority
of the City's housing stock was built before 1980 and is home to 32 percent of the City's current
homeowners. The greatest number of renters reside in housing units built between 1970 and 1979.
Section 2: Community Profile (September 2022 Final Housing Element) 2-37
Ciryty of Newport Beach
Figure 2-9: Housing Stock by Age of Structure and Tenure
25%
20%
15%
10%
5%
■
■
■
■
■
■
■
■
0% _
M
Built
Built
Built
Built
Built
Built
Built
Built
Built
Built
2014 or
2010 to
2000 to
1990 to
1980 to
1970 to
1960 to
1950 to
1940 to
1939 or
later
2013
2009
1999
1989
1979
1969
1959
1949
earlier
■ Renter 0.3%
0.9%
3.3%
5.1 %
5.7%
12.3%
8.5%
4.5%
1.4%
1.7%
■ Owner 0.6%
0.7%
8.1 %
9.4%
5.6%
11.1 %
10.3%
6.7%
2.2%
1.7%
■ Owner ■ Renter
Source: American Community Survey, 5-Year Estimates, 2018
Figure 2-10 displays the 2018 ACS data for housing units by the year they were built for owners (left) and
renters (right). That data shows that a greater concentration of renters reside in units built between 1970
and 1979 compared to other years and to homeowners. Less than 2 percent of renters and homeowners
reside in units built after 2010. A greater number of homeowners live in units built between 1990 and
2009 than renters (9.1 percent more).
Section 2: Community Profile (September 2022 Final Housing Element) 2-38
City of Newport Beach
2021-2029 HOUSING ELEMENT �•'�-`"��
Figure 2-10: Housing Units by Year Built Owner (Left) and Renter (Right)
Owner Renter
Built 1939 or earlier 1111111110 1.7%
Built 1940 to 1949 M 2.2%
Built 1950 to 1959 6.7%
Built 1960 to 1969 10.3%
Built 1970 to 1979 11.1 %
Built 1939 or earlier 1111110 1.7%
Built 1940 to 1949 M 1.4%
Built 1950 to 1959 4.5%
Built 1960 to 1969 8.5%
Built 1970 to 1979
12.3%
Built 1980 to 1989 5.6% Built 1980 to 1989 5.7%
Built 1990 to 1999 M 9.4% Built 1990 to 1999 5.1 %
Built 2000 to 2009 8.1 % Built 2000 to 2009 3.3%
Built 2010 to 2013 ■ 0.7% Built 2010 to 2013 ■ 0.9%
Built 2014 or later 1 0.6% Built 2014 or later 1 0.3%
0% 4% 8% 12% 0% 4% 8% 12%
Source: American Community Survey, 5-Year Estimates, 2018.
5. Housing Costs and Affordability
Housing costs reflect the supply and demand of housing in a community. This section summarizes the cost
and affordability of the housing stock to the City's residents.
Home values in Newport Beach are on median $1,787,300, as shown in Table 2-32. This total is 2.7 times
the median home value of Orange County and significantly larger than the nearby cities. Laguna Beach is
second behind Newport Beach in home value with a median amount of $1,700,400. Costa Mesa has the
lowest median home value of $707,600.
Table 2-32: Median Home Value by Jurisdiction
Jurisdiction
Median Home Value
Costa Mesa
$707,600
Newport Beach
$1,787,300
Huntington Beach
$728,200
Laguna Beach
$1,700,400
Irvine
$797,100
Orange County
$652,900
Source: American Community Survey, 5-Year Estimates, 2018.
Table 2-33 outlines the average monthly price of rent in Newport Beach and how it has changed between
2017 and 2020 depending on the number of bedrooms. This data is provided by the Zillow Rent Index
Report for Newport Beach, and shows that all units experienced increases in rates in the last three years.
One -bedroom rentals rose by 5.1 percent and the most out of 1-3-bedroom units. Two -bedroom units
Section 2: Community Profile (September 2022 Final Housing Element) 2-39
City of Newport Beach
2021 ate.
remained the most consistent with a slight increase of 1.4 percent. The price per square foot, however,
saw a much greater increase for units with three or more bedrooms (9.8 percent). Zillow reports that one -
bedroom units decreased from $3.01 per square foot in 2017 to $3 per square foot in 2020.
Table 2-33: Change in Average Monthly Rental Rates. 2017-2020
Unit Type
January 2017
January 2018
January 2019
January 2020
% Change
2017-2020
1 Bedroom
$2,383
$2,425
$2,408
$2,504
5.1%
2 bedrooms
$3,290
$3,291
$3,241
$3,337
1.4%
3 Bedrooms
$4,191
$4,218
$4,095
$4,355
3.9%
Price per Square Foot
Unit Type
January 2017
January 2018
January 2019
January 2020
% Change
2017-2020
1 Bedroom
$3.01
$2.83
$2.93
$3
-0.3%
2 bedrooms
$2.64
$2.65
$2.53
$2.87
8.7%
3+ Bedrooms
$2.65
$2.8
$2.81
$2.91
9.8%
Source: Zillow Rent Index Report, January 2017-2020, accessed August 25, 2020.
Housing affordability can be inferred by comparing the cost of renting or owning a home in the City with
the maximum affordable housing costs for households at different income levels. Taken together, this
information can generally show who can afford what size and type of housing and indicate the type of
households most likely to experience overcrowding and overpayment.
The Federal Department of Housing and Urban Development (HUD) conducts annual household income
surveys nationwide to determine a household's eligibility for federal housing assistance. Based on this
survey, the California Department of Housing and Community Development (HCD) developed income
limits, based on the Area Median Family Income (AMFI), which can be used to determine the maximum
price that could be affordable to households in the upper range of their respective income category.
Households in the lower end of each category can afford less by comparison than those at the upper end.
The maximum affordable home and rental prices for residents in Orange County are shown in Table 2-34
and Table 2-35.
The data shows the maximum amount that a household can pay for housing each month without incurring
a cost burden (overpayment). This amount can be compared to current housing asking prices (Table 2-32)
and market rental rates (Table 2-33) to determine what types of housing opportunities a household can
afford.
Extremely Low-income Households
Extremely low-income households earn less than 30 percent of the County AMFI — up to $26,950 for a
one -person household and up to $41,550 for a five -person household in 2020. Extremely low-income
households cannot afford market -rate rental or ownership housing in Newport Beach without assuming
a substantial cost burden.
Section 2: Community Profile (September 2022 Final Housing Element) 2-40
City of Newport Beach
2021-2029 HOUSING ELEMENT
Very Low-income Households
Very low-income households earn between 31 percent and 50 percent of the County AMFI —up to $44,850
for a one -person household and up to $69,200 for a five -person household in 2020. A very low-income
household cannot afford market -rate rental or ownership housing in Newport Beach without assuming a
substantial cost burden. A very low-income household at the maximum income limit can afford to pay
approximately $1,121 to $1,730 in monthly rent, depending on household size. Given the high cost of
housing in the City, persons, or households of very low-income could not afford to rent or purchase a
home in the City.
Low-income Households
Low-income households earn between 51 percent and 80 percent of the County's AMFI - up to $71,750
for a one -person household and up to $110,650 for a five -person household in 2020. The affordable home
price for a low-income household at the maximum income limit ranges from $308,500 to $454,000. Based
on the asking prices of homes for sale in 2020 (Table 2-30), ownership housing would not be affordable
to low-income households. A one -person low-income household could afford to pay up to $1,794 in rent
per month and a five -person low-income household could afford to pay as much as $2,766. Low-income
households in Newport Beach would not be able to find adequately sized affordable apartment units
(Table 2-31).
Moderate -income Households
Persons and households of moderate -income earn between 81 percent and 120 percent of the County's
AMFI — up to $133,500, depending on household size in 2020. The maximum affordable home price for a
moderate -income household is $377,000 for a one -person household and $558,600 for a five -person
family. Moderate -income households in Newport Beach would not be able to purchase a home in the City.
The maximum affordable rent payment for moderate -income households is between $2,163 and $3,338
per month. A one -person moderate -income household may be able to find some adequately sized
affordable apartment units; larger households would not be able to afford to rent a unit in the City.
Section 2: Community Profile (September 2022 Final Housing Element) 2-41
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table 2-34: Affordable Housing Costs for Owners in Orange County, 2020
Annual Income
Mortgage
Utilities'
Tax and
Insurance
Total
Affordable
Monthly
Housing Cost
Affordable
Purchase
Price
Extremely Low-income
(30% of AMFI)
1-Person
$26,950
$455
$118
$101
$674
$99,990
2-Person
$30,800
$504
$151
$116
$770
$110,500
3-Person
$34,650
$539
$197
$130
$866
$118,000
4-Person
$38,450
$574
$243
$144
$961
$125,800
5-Person
$41,550
$594
$289
$156
$1,039
$130,200
Very Low -Income (50% of AMFI)
1-Person
$44,850
$835
$118
$168
$1,121
$183,000
2-Person
$51,250
$938
$151
$192
$1,281
$205,500
3-Person
$57,650
$1,028
$197
$216
$1,441
$225,400
4-Person
$64,050
$1,118
$243
$240
$1,601
$245,000
5-Person
$69,200
$1,182
$289
$260
$1,730
$259,000
Low-income (80% AMFI)
1-Person
$71,750
$1,407
$118
$269
$1,794
$308,500
2-Person
$82,000
$1,592
$151
$308
$2,050
$349,100
3-Person
$92,250
$1,763
$197
$346
$2,306
$386,500
4-Person
$102,450
$1,934
$243
$384
$2,561
$424,000
5-Person
$110,650
$2,062
$289
$415
$2,766
$452,000
Moderate -income (120% AMFI)
1-Person
$86,500
$1,720
$118
$324
$2,163
$377,000
2-Person
$98,900
$1,951
$151
$371
$2,473
$427,800
3-Person
$111,250
$2,167
$197
$417
$2,781
$475,000
4-Person
$123,600
$2,384
$243
$464
$3,090
$522,700
5-Person
$133,500
$2,548
$289
$501
$3,338
$558,600
Source: Orange County Housing Authority, 2020 Utility Allowance Schedule and California Department of Housing and Community
Development, 2020 Income Limits and Kimley Horn and Associates Assumptions: 2020 HCD income limits; 30% gross household
income as affordable housing cost; 15% of monthly affordable cost for taxes and insurance;10% down payment; and 4.5% interest
rate for a 30-year fixed-rate mortgage loan. Utilities based on Orange County Utility Allowance.
1. Utilities includes basic electric, water, sewer/trash, refrigerator, and stove.
Section 2: Community Profile (September 2022 Final Housing Element) 2-42
City of Newport Beach
2021-2029 HOUSING ELEMENT
r
Table 2-35: Affordable Monthly Housing Cost for Renters in Orange County, 2020
Annual Income
Rent
Utilities'
Total Affordable
Monthly Housing Cost
Extremely Low-income (30% of AMFI)
1-Person
$26,950
$556
$ 118.00
$674
2-Person
$30,800
$619
$ 151.00
$770
3-Person
$34,650
$669
$ 197.00
$866
4-Person
$38,450
$718
$ 243.00
$961
5-Person
$41,550
$750
$ 289.00
$1,039
Very Low-income (50% of AMFI)
1-Person
$44,850
$1,003
$ 118.00
$1,121
2-Person
$51,250
$1,130
$ 151.00
$1,281
3-Person
$57,650
$1,244
$ 197.00
$1,441
4-Person
$64,050
$1,358
$ 243.00
$1,601
5-Person
$69,200
$1,441
$ 289.00
$1,730
Low-income (80% AMFI)
1-Person
$71,750
$1,676
$ 118.00
$1,794
2-Person
$82,000
$1,899
$ 151.00
$2,050
3-Person
$92,250
$2,109
$ 197.00
$2,306
4-Person
$102,450
$2,318
$ 243.00
$2,561
5-Person
$110,650
$2,477
$ 289.00
$2,766
Moderate -income (120% AMFI)
1-Person
$86,500
$2,045
$ 118.00
$2,163
2-Person
$98,900
$2,322
$ 151.00
$2,473
3-Person
$111,250
$2,584
$ 197.00
$2,781
4-Person
$123,600
$2,847
$ 243.00
$3,090
5-Person
$133,500
$3,049
$ 289.00
$3,338
Source: Orange County Housing Authority, 2020 Utility Allowance Schedule and California Department of Housing and
Community Development, 2020 Income Limits and Kimley Horn and Associates Assumptions: 2020 HCD income limits; 30%
gross household income as affordable housing cost Utilities based on Orange County Utility Allowance.
1. Utilities includes basic electric, water, sewer/trash, refrigerator, and stove.
Section 2: Community Profile (September 2022 Final Housing Element) 2-43
t�
iewpo
logeth
-�=7
Mai
Section 3.0
HOUSING CONSTRAINTS, RESOURCES,
AND AFFIRMATIVELY FURTHERING FAIR
HOUSING
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-0
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
As is common in many communities, a variety of constraints affect the provisions and opportunities for
adequate housing in the City of Newport Beach. Housing constraints consist of both governmental
constraints, including but not limited to land use controls, development fees and permitting fees,
development standards, building codes and permitting processes; as well as, nongovernmental or market
constraints, including but not limited to land costs, construction costs, and availability of finances.
Combined, these factors create barriers to availability and affordability of new housing, especially for
lower and moderate -income households.
Nongovernmental constraints affect the cost of housing in the City of Newport Beach and can produce
barriers to housing production and affordability. These constraints include the availability and cost of land
for residential development, the demand for housing, financing, and lending, construction costs, and the
availability of labor, which can make it expensive for developers to build any housing, and especially
affordable housing. The following highlights the primary market factors that affect the production of
housing in Newport Beach.
1. Land Costs and Construction Costs
Construction costs vary widely according to the type of development, with multi -unit housing generally
less expensive to construct than single -unit homes. However, there is variation within each construction
type, depending on the size of the unit and the number and quality of amenities provided. An indicator of
construction costs is Building Valuation Data compiled by the International Code Council (ICC). The
International Code Council was established in 1994 with the goal of developing a single set of national
model construction codes, known as the International Codes, or I -Codes. The ICC updates the estimated
cost of construction at six-month intervals and provides estimates for the average cost of labor and
materials for typical Type VA wood -frame housing. Estimates are based on "good -quality" construction,
providing for materials and fixtures well above the minimum required by state and local building codes.
In August 2020, the ICC estimated that the average per square -foot cost for good -quality housing was
approximately $118.57 for multi -unit housing, $131.24 for single -unit homes, and $148.44 for residential
care/assisted living facilities. Construction costs for custom homes and units with extra amenities, run
even higher. Construction costs are also dependent upon materials used and building height, as well as
regulations set by the City's adopted Building Code. For example, according to the ICC, an accessory
dwelling unit (ADU) or converting a garage using a Type VB wood framed unit would costs about $123.68
per square foot. Although construction costs are a significant portion of the overall development cost,
they are consistent throughout the region and, especially when considering land costs, are not considered
a major constraint to housing production in Newport Beach.
Land costs can also pose a significant constraint to the development of affordable and middle -income
housing and represents a significant cost component in residential development. Land costs may vary
depending on whether the site is vacant or has an existing use that must be removed. Similarly, site
constraints such as environmental issues (e.g., steep slopes, soil stability, seismic hazards, flooding) can
also be factored into the cost of land. There are approximately 6,000 acres of vacant and non -vacant
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-1
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
residential land (39.3 percent), out of approximately 15,238 acres of land in Newport Beach, which are
not currently subject to land use constraints (airport restrictions, flood zone, fire high severity zone, NCCP
conservation area, seismic hazard, and sea level rise). However, majority of the acres are developed and
may require rezoning, reuse, and redevelopment due to a lack of vacant sites in the City. Additional costs
may be associated with redeveloping and/or converting sites which may influence the cost of the rental
units or home value.
A September 2020 web search using the Orange County Market report for lots for sale in the City of
Newport Beach returned less than five vacant lots listed for sale. Of the lots listed, the costs ranged from
$600,000 for 0.075 acres near Santa Ana Heights (about $183 per square foot), to $4,995,000 for
0.27 acres with an ocean view (about $430 per square foot). Larger vacant lots reached as high as
$9,995,000 for 0.77 acres inland (about $295 per square foot) to $10,500,000 for 0.51 acres of land (about
$474 per square foot) closer to the coast. According to the same report, in September coastal lots listed
for sale in the City averaged $8,000,000 for 0.6 acres. The cost of land in Newport Beach is higher than
neighboring cities, such as Laguna Beach, where the median cost of land is about $115 per square foot.
Therefore, land and redevelopment costs in Newport Beach create a significant constraint to the
development of housing, specifically affordable housing.
2. A vaiiabi/ity Financing
The availability of financing in a community depends on several factors, including the type of lending
institutions active in a community, lending practices, rates and fees charged, laws and regulations
governing financial institutions, and equal access to such loans. Additionally, availability of financing
affects a person's ability to purchase or improve a home. Under the Home Mortgage Disclosure Act
(HMDA), lending institutions are required to disclose information on the disposition of loan applications
and the income, gender, and race of loan applicants. The primary concern in a review of lending activity
is to determine whether home financing is available to residents of a community. The data presented in
this section include the disposition of loan applications submitted to financial institutions for home
purchase, home improvement, and refinancing in Newport Beach.
Table 3-1 below displays the disposition of loan applications for the Anaheim -Santa Ana -Irvine
Metropolitan Statistical Area/Metropolitan Division (MSA/MD), per the 2016 Home Mortgage Disclosure
Act report. According to the data, applicants in the 120 percent median -income or more had the highest
rates of loans approved. Of that income category, applicants who reported White had the highest
percentage of approval and the number of applications. Applicants in the less than 50 percent of the
MSA/MD median -income categories were showed higher percentages of denied loans than loans
originated. According to the data, applicants who reported white were, on average, more likely to be
approved for a loan than another race or ethnicity.
Given the relatively high rates of approval for home purchase, improvement, and refinance loans, home
financing is generally available and not considered a significant constraint to the provision and
maintenance of housing in Newport Beach.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-2
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT41
,#
Table 3-1: Disposition of Loan Applications by Race/Ethnicity-Anaheim-Santa Ana -Irvine MSA/MD
Applications by Race/Ethnicity
Percent
Approved
Percent
Denied
Percent
Other
Total
(Count)
LESS THAN 50% OF MSA/MD MEDIAN
American Indian and Alaska Native
26.2%
52.3%
23.1%
65
Asian
33.9%
42.5%
26.7%
1,382
Black or African American
41.6%
33.7%
25.8%
89
Native Hawaiian or other Pacific Islander
25.0%
44.2%
30.8%
52
White
45.6%
31.2%
26.1%
5,240
Hispanic or Latino
37.9%
38.2%
26.8%
1,566
50-79% OF MSA/MD MEDIAN
American Indian and Alaska Native
38.1%
34.0%
29.9%
97
Asian
53.3%
25.3%
29.4%
3,153
Black or African American
43.4%
19.1%
41.4%
152
Native Hawaiian or other Pacific Islander
49.4%
39.8%
16.9%
83
White
54.5%
23.3%
27.6%
8,677
Hispanic or Latino
47.6%
27.7%
29.3%
3,245
80-99% OF MSA/MD MEDIAN
American Indian and Alaska Native
51.4%
25.7%
31.4%
35
Asian
59.5%
19.2%
29.3%
1,495
Black or African American
52.9%
22.1%
30.9%
68
Native Hawaiian or other Pacific Islander
43.5%
13.0%
43.5%
23
White
61.9%
17.2%
26.1%
3,873
Hispanic or Latino
54.0%
21.4%
29.1%
1,347
100-119% OF MSA/MD MEDIAN
American Indian and Alaska Native
48.9%
22.7%
29.5%
88
Asian
62.3%
15.6%
28.8%
4,820
Black or African American
55.6%
20.1%
28.6%
234
Native Hawaiian or other Pacific Islander
49.4%
27.6%
31.0%
87
White
66.2%
13.8%
25.1%
12,607
Hispanic or Latino
60.8%
1 16.4%
1 26.8%
1 3,398
120%OR MORE OF MSA/MD MEDIAN
American Indian and Alaska Native
59.2%
13.0%
32.0%
169
Asian
62.8%
12.9%
29.0%
17,800
Black or African American
57.7%
17.3%
27.2%
624
Native Hawaiian or other Pacific Islander
64.2%
11.4%
26.8%
254
White
68.3%
11.3%
24.9%
49,811
Hispanic or Latino
64.6%
13.3%
26.7%
6,095
Source: Consumer Financial Protection Bureau, Disposition of loan applications, by Ethnicity/Race of applicant 2019.
3. Economic Constraints
Market forces on the economy and the trickle -down effects on the construction industry can act as a
barrier to housing construction and especially to affordable housing construction. It is estimated that
housing price growth will continue in the City and the region for the foreseeable future. Moving into 2020,
the economy was growing, California was seeing a 1.6-percent growth in jobs from 2019 and experiencing
all-time lows for unemployment rates. COVID-19 had stalled much of the economy in early 2020, however,
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-3
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
as the California economy regains momentum housing stock and prices in the Newport Beach community
remain stable.
A 2020 California Association of Realtors (CAR) report found that homes on the market in Orange County
experienced a nine percent year to year increase and cost an average of $880,000 in February 2020;
almost $300,000 higher than the State median home price in the same month ($579,770). According to
the CAR First Time Buyer Housing Affordability Index, from 2018 to 2019 the median value of a home in
Orange County was $703,800 with monthly payments (including taxes and insurance) of $3,630, requiring
an average qualifying income of $108,900.
Homes and cost of living in Newport Beach was reported higher than the State median housing and living
costs. According to September 2020 data from Zillow, the median home value of single -unit homes and
condos in Newport Beach is $2,407,4S4. According to Zillow's methodology, this value is seasonally
adjusted to remove outliers and only includes the middle price -tier of homes. Newport Beach home values
have gone up 0.7 percent over the past year and Zillow predicts they will rise 3.4 percent within the next
year. Newport's home value index ($2,407,454) has been on a steep and steady rise since early 2012, and
according to a September 2020 forecasts, they are expected to increase slightly (estimated $2,490,000)
in 2021. Orange County by comparison has a median home value index of $777,000, according to the
same September 2020 report, which is significantly lower than the City of Newport. Forecasted home
prices in the County, through 2021 are set to see minor increases ($810,000). The cost of land and home
prices in Newport are considered a major constraint to the development of and access to housing,
particularly the development of and access to affordable housing.
In addition to market constraints, local policies and regulations also affect the price and availability of
housing and the provision of affordable housing. For example, State and Federal regulations affect the
availability of land for housing and the cost of housing production, making it difficult to meet the demand
for affordable housing and limiting supply in a region. Regulations related to environmental protection,
building codes, and other topics have significant, often adverse, impacts on housing cost and availability.
While the City of Newport Beach has no control over State and Federal Laws that affect housing, local
laws including land use controls, site improvement requirements, fees and exactions, permit processing
procedures, and otherfactors can constrain the maintenance, development, and improvement of housing
create barriers to housing.
1. Land Use Controls
In the State of California, cities are required to prepare a comprehensive, long term General Plan to guide
future development. The Land Use Element of the General Plan establishes land uses of developments
within the City of Newport Beach. The Land Use Element sets for policies and regulations for guiding local
development. These policies, together with existing zoning regulations, establish the amount and
distribution of land to be allocated for different uses within the City. The Land Use Element of the General
Plan identifies the following residential and mixed -use categories:
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-4
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
• Single Unit Residential Detached (IRS-D): The RS-D category applies to a range of detached single -
unit residential dwelling units on a single legal lot and does not include condominiums or
cooperative housing. The RS-D category permits a density range from 0.0 to 29.9 DU/AC.
• Single Unit Residential Attached (RS-A): The RS-A category applies to a range of attached single -
unit residential dwelling units on a single legal lot and does not include condominiums or
cooperative housing. The RS-A category permits a density range from 0.0 to 29.9 DU/AC.
• Two Unit Residential (RT): The RT category applies to a range of two -unit residential dwelling
units such as duplexes and townhomes. The RT permits a density range from 0.0 to 39.9 DU/AC.
• Multiple Residential (RM): The RM designation is intended to provide for multi -unit residential
development containing attached dwelling units. The RM permits a density range from 0.0 to
52.0 DU/AC.
• Multiple Residential Detached (RM-D): The RM-D designation is intended to provide primarily for
multi -unit residential development exclusively containing detached dwelling units. The RM-D
allows a 1.5 FAR where a minimum FAR 0.35 and maximum FAR if .5 may be used for
nonresidential.
• Mixed -Use Vertical (MU-V): The MU-V designation is intended to provide for the development of
properties for mixed use structures that vertically integrate housing with retail uses including
retail, office, restaurant, and similar nonresidential uses. For mixed -use structures, commercial
uses characterized by noise, vibration, odors, or other activities that would adversely impact on -
site residential units are prohibited. The MU-V allows a 1.5 FAR where a minimum FAR 0.35 and
maximum FAR of .5 may be used for nonresidential.
• Mixed -Use Horizontal (MU-H): The MU-H designation is intended to provide for the development
of areas for a horizontally distributed mix of uses, which may include general or neighborhood
commercial, commercial office, multi -unit residential, visitor -serving and marine -related uses,
and/or buildings that vertically integrate residential with commercial uses. The MU-H allows a
maximum FAR of 1.0 for residential.
• Mixed -Use Water Related (MU-W): The MU-W designation is intended to provide for commercial
development on or near the bay in a manner that will encourage the continuation of coastal -
dependent and coastal -related uses in accordance with the Recreational and Marine Commercial
(CM) designation, as well as allow for the integrated development of residential. The MU-W
permits a density range from 0.0 to 29.9 DU/AC.
These categories accommodate development of a wide range of housing types in Newport Beach.
Furthermore, maintaining the existing residential categories is important for ensuring compatibility
between the new and existing housing.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-5
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Local Coastal Program and Land Use Plan
The Local Coastal Program (LCP) is a coastal management plan that contains land use, development, public
access, and resource protection policies and regulation to implement the California Coastal Act (Coastal
Act). The LCP is comprised of a Land Use Plan (LUP) and an Implementation Plan (IP). The LUP serves in
conjunction with, and is considered a legislative equivalent to, the City's General Plan Land Use Element
to identify land uses in the Coastal Zone. The intent of this plan is to provide for land uses and residential
density limits that protect coastal resources and public access. The LUP identifies the residential
categories and densities provided in Table 3-2.
Table 3-2: Coastal Land Use Plan Densities
Land Use
Maximum Density Range
per Lot
Single -Unit Residential Detached — RSD
RSD-A
0 — 5.9 units per acre
RSD-B
6 — 9.9 units per acre
RSD-C
10 —19.9 units per acre
RSD-D
20 — 29.9 units per acre
Single -Unit Residential Attached — RSA
RSA -A
0 — 5.9 units per acre
RSA-B
6 — 9.9 units per acre
RSA-C
10 —19.9 units per acre
RSA-D
20 — 29.9 units per acre
Two Unit Residential - RT
RT-A
0 — 5.9 units per acre
RT-B
6 — 9.9 units per acre
RT-C
10 —19.9 units per acre
RT-D
20 — 29.9 units per acre
RT-E
30 — 39.9 units per acre
Multiple Unit Residential — RM
RM-A
0 — 5.9 units per acre
RM-B
6 — 9.9 units per acre
RM-C
10 —19.9 units per acre
RM-D
20 — 29.9 units per acre
RM-E
30 — 39.9 units per acre
RM-F
40 — 52 units per acre
Source: City of Newport Beach Municipal Code
The Coastal Act is administered by the California Coastal Commission. Over 63 percent of the City of
Newport Beach is within the Coastal Zone and subject to oversight by the Coastal. Although the City
retains permit authority in most of the Coastal Zone, development projects located near sensitive coastal
resources, such as the bay, ocean, wetlands, and environmentally sensitive habitat areas, require the
processing of coastal development permits and are subject to appeal by the California Coastal
Commission. This additional level of review and approval process may extend the review period of
development projects and increase the application and discretionary review costs. In addition, any
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-6
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
request to increase residential densities or allow new residential housing opportunities requires the
processing of a Local Coastal Program amendment through the California Coastal Commission. An
illustrative example is the Master Development Plan for Banning Ranch, a housing development project
that included 1,375 dwelling units, including an affordable housing component, that was adopted by the
City in 2012, but denied by the California Coastal Commission in 2016 components but due to potential
impacts to environmentally sensitive habitats and coastal resources. The Coastal Land Use Plan and
Coastal Commission's additional review may inhibit development due to the added review time and costs,
and uncertainty of approvals.
Housing in the Coastal Zone
The City of Newport Beach uses Chapters 20.34 and 21.34 (Conversion or Demolition of Affordable
Housing) of the Municipal Code to implement Government Code Section 65590 et seq. Between
April 3, 2000, and June 30, 2020, 3,428 new residential units were permitted for construction within the
California Coastal Zone. Of these new units, 120 were developed as housing affordable to low-income
individuals and/or families (Bayview Landing project). During the same time period, the City issued
demolition permits for a total of 1,857 residential units within the Coastal Zone, resulting in a net increase
of 1,571 units. Of the units demolished, six units were known to be occupied by low-income persons
and/or families and were required to be replaced. The replacement units were provided off -site and rent
restricted for a term of 30-year at rents affordable to very low and low-income households. Lastly, the
City assisted with the acquisition, rehabilitation and conversion of an existing 12-unit apartment building
located at 6001 Coast Boulevard for affordable housing — 6 for low-income veterans and 6 with a priority
for low-income seniors and veterans (The Cove, Project).
John Wayne Airport Environs Land Use Plan (AELUP)
The City's Airport Area may be considered as an opportunity zone to add residential neighborhoods.
However, land located within the Airport Planning Area for John Wayne Airport are subject to the
development restrictions of the John Wayne Airport Environs Land Use Plan (AELUP), which limits the
ability to develop residential units. Approximately 391 acres are subject to these residential restrictions.
An amendment to the City's General Plan or rezoning for residential use requires review and approval by
the Airport Land Use Commission (ALUC) and extends the total review period of a proposed housing
development and subsequently increases the cost of development. The added review time and additional
costs may dissuade housing developers, and particularly affordable housing developers, from developing
housing in this area.
Overlay Districts
An overlay district is a regulatory tool that adds special provisions and regulations to an area in the City.
An overlay district may be added to a neighborhood or corridor on a map or it may apply to the City as
whole and be applied under certain circumstances. An overlay district may be initiated as a Zoning Map
amendment. All proposed developments within the overlay district must comply with the district's
applicable development standards in addition to the Zoning Code standards. Overlay Districts, which
affect housing in Newport Beach, include the Mobile Home Park (MHP) Overlay Zoning District, Bluff
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-7
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Overlay Zoning District, and the Height Overlay District. Overlay Districts may be a constraint to the
development of housing when it sets standards which are more restrictive than the Zoning Code.
OvPrlav Cnactal nictrir-tc
The purposes of the individual overlay coastal zoning districts and the way they are applied are detailed
below. An overlay district may be initiated as a Coastal Zoning Map amendment in compliance with
Chapter 21.14 of the City's Municipal Code. All development within these zones must comply with the
applicable development standards (e.g., setbacks, height) of the underlying coastal zoning district in
addition to the standards provided by the respective zone as outline in the Municipal Code, where
applicable.
Mobile Home Park Overlay Coastal Zoning District
The MHP Overlay Coastal Zoning District is intended to establish a mobile home district on parcels of land
developed with mobile home parks. The regulations of this district are designed to maintain and protect
mobile home parks in a stable environment with a desirable residential character. However, such
regulations may pose a constraint to the redevelopment of existing mobile home parks and increasing
density. Uses allowed in the MHP Overlay include the following:
• Mobile Home Parks
• Accessory Structures incidental to the operation of Mobile Home Parks
Bluff Gvertay Disrricr
The Bluff (B) Overlay District is intended to establish special development standards for areas of the City
where projects are proposed on identified bluff areas. The Bluff Overlay District intends to provide
additional regulations and requirements in order to establish safety standards for developments in the
overlay District. Specific permitted uses, development standards, and requirements are outlined in the
City's Municipal Code, Chapter 21.28.040. Additional regulations and development standards may
prevent increased density or intensity in areas within the Bluff Overlay District.
ranvnn 17vArlav I)icfrir_f
The Canyon (C) Overlay District is intended to establish development setbacks based on the predominant
line of existing development for areas that contain a segment of the canyon edge of Buck Gully or Morning
Canyon. In order to ensure safe development of housing within the Canyon Overlay Districts, development
standards and requirements include the following:
• Development Stringline Setback: Development may not extend beyond the predominant line of
existing development on canyon faces by establishing a development stringline where a line is
drawn between nearest adjacent corners of existing structures on either side of the subject
property.
• Swimming Pools require a double wall construction
• Coastal Hazards and Geologic Stability Report
• Erosion Control Plan
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-8
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Additional specific development standards and requirements are outlined in the City's Municipal Code,
Chapter 21.28.050. The Canyon Overlay District may inhibit added density or intensity of uses to
residential properties within the overlay.
14,niaht OvPrlav
The Height (H) Overlay District is intended to establish standards for review of increased building height
in conjunction with the provision of enhanced project design features and amenities. The
Height Overlay District includes properties located in the Multiple Residential (RM) Zoning District within
Statistical Area A2. The maximum height limit is 40 feet for a flat roof and 45 feet for a sloped roof with a
three-story maximum. Additional standards, regulations, and eligibility requirements are outline in the
City's Municipal Code, Chapter 21.28.060. The Height Overlay District is not considered a constraint to
development as it provides for higher height limits.
State Density Bonus Law
Density bonuses are an additional way to increase the number of dwelling units otherwise allowed in a
residentially zoned area. The City's Zoning Ordinance identifies the purpose of the Density Bonus
Ordinance is to grant density bonuses and incentives for the development of housing that is affordable to
very low-, low-, and moderate -income households and senior citizens. Under the Density Bonus Law,
developers are entitled to a density bonus corresponding to specified percentages of units set aside for
very low-income, low-income, or moderate -income households.
Effective January 1, 2021, California State Assembly Bill 2345 amends the Density Bonus Law to expand
and enhance development incentives for projects with affordable and senior housing components.
AB 2345 amends the Density Bonus Law to increase the maximum density bonus from 35 percent to
50 percent. To be eligible for the maximum bonus, a project must set aside at least (i) 15 percent of total
units for very low-income households, (ii) 24 percent of total units for low-income households, or (iii) 44
percent of for -sale units for moderate -income households. Levels of bonus density between 35 percent
and 50 percent are granted on a sliding scale. The City's currently adopted Density Bonus Ordinance is no
longer consistent with State law and must be amended to comply with new statutory requirement.
Implementing Action 3.1.2 of Section 4: Housing Plan outlines the City's plan to maintain compliance with
State legislation.
Density Bonus Programs
The currently adopted density bonuses are eligible for developments which contain five or more dwelling
units and meet the requirements outlined in Chapter 20.32 of the Newport Beach Municipal Code. Units
that are not eligible for density bonus include developments where affordable housing is required under
the provisions of Title 19.
When a development which meets the requirements, density bonuses are applicable as shown in
Table 3-3 and Table 3-4 below for different income categories. Developments which meet the
requirements for Senior housing will be entitled to a density bonus of twenty percent of the number of
senior housing units.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-9
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table 3-3: Density Bonus Calculations
Very Low -Income
Percentage of Base Units Proposed
Density Bonus Percentage
5
20
6
22.5
7
25
8
27.5
9
30
10
32.5
11
35
Low -Income
10
20
11
21.5
12
23
13
24.5
14
26
15
27.5
17
30.5
18
32
19
33.5
20
35
Source: City of Newport Beach Municipal Code Chapter 20.32
Table 3-4: Density Bonus Calculations
Moderate -Income
Percentage of Base Units Proposed
Density Bonus Percentage
10
5
11
6
12
7
13
8
14
9
15
10
16
11
17
12
18
13
19
14
20
15
21
16
22
17
23
18
24
19
25
20
26
21
27
22
28
23
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-10
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Moderate -Income
Percentage of Base Units Proposed
Density Bonus Percentage
29
24
30
25
31
26
32
27
33
28
34
29
35
30
36
31
37
32
38
33
39
34
40
35
Source: City of Newport Beach Municipal Code Chapter 20.32
Additionally, when an applicant for a residential development agrees to donate land to the City for very
low-income households, the applicant is then entitled to a density bonus for the entire market rate
development, if the conditions specified in the City's Municipal Code Section 20.32.030 are met.
An applicant is entitled to an increase above the maximum allowed residential density as outline in
Table 3-5.
Table 3-5: Densitv Bonus Calculations
Very Low -Income
Percentage of Base Units Proposed
Density Bonus Percentage
10
15
11
16
12
17
13
18
14
19
15
20
16
21
17
22
18
23
19
24
20
25
21
26
22
27
23
28
24
29
25
30
26
31
27
32
28
33
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-11
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Very Low -Income
Percentage of Base Units Proposed
Density Bonus Percentage
29
34
30
35
Source: City of Newport Beach Municipal Code Chapter 20.32
Additional regulations for density Bonuses include the following:
• Fractional Units: The calculation of a density bonus, in compliance with any of the above
requirements, that results in fractional units shall be rounded up to the next whole number.
• Mixed Income Development: If the applicant desires to develop a density bonus project available
to a mix of income levels, the Director determines the amount of density bonus to be granted up
to a maximum of 35 percent.
LCnnrnccinnc and Inrnnfivnc
When qualified for a density bonus, an applicant may request additional parking incentives beyond those
provided above. When requested, the City may grant the following (inclusive of handicap and guest
parking):
• Zero to one bedroom: one on -site parking space per unit; or
• Two or more bedrooms: two on -site parking spaces per unit.
In addition to a request for parking incentives, an applicant who meets the density bonus requirements
may also submit a proposal for a reduction in the site development standards or architectural design
requirements; approval of mixed -use zoning in conjunction with the housing development; other
regulatory incentive proposed by the client or the City that will result in identifiable, financially sufficient,
and actual cost reductions; and/or a direct financial contribution granted by the Council at its sole
discretion.
Additional Incentives may also apply for developments with a childcare component, requirements and
applicable incentives are outlines in detailed in the City's Municipal Code Section 20.32.060. Incentives
and density bonuses allow for increased opportunity and feasibility for the production of affordable
housing in a community, the City of Newport Beach's Incentives and Density Bonus programs are
comparable to similar Southern California communities and are a constraint to the development of
housing for all income levels.
Residential Development Standards
Citywide, outside the specific plan areas, the City regulates the type, location, density, and scale of
residential development primarily through the Zoning Code. The following summarizes the City's existing
residential zoning districts:
• Residential -Agricultural (R-A) — Residential -Agricultural is intended to provide for single lots
appropriate for detached single -unit residential dwelling units and light farming.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-12
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
• Single -Unit Residential (R-1) — Single -Unit Residential is intended to provide for a range of
detached single -unit residential dwelling units on single lots. This land use designation does not
include condominiums or cooperative housing.
• Two -Unit Residential. Balboa Island (R-BI) — Two -Unit Residential Balboa Island is intended to
provide for a maximum of two residential dwelling units, or duplexes. This is designation is
reserved to single lots on Balboa Island.
• Two -Unit Residential (R-2) — Two -Unit Residential is intended to provide for single lots
appropriate for a maximum of two residential dwelling units, or duplexes.
• Multiple Residential (RM) — Multiple Residential is intended to provide for area appropriate for
multi -unit residential developments containing attached or detached dwelling units.
• Medium Density Residential (RMD) — Medium Density Residential is intended to provide for areas
appropriate for medium density residential developments containing attached or detached units.
• Mixed -Use Vertical (MU-V) — Mixed -Use Vertical is intended to provide for area appropriate for
the development of mixed -use structures that vertically include residential dwelling units.
Residential dwelling units are located above the ground floor, which includes office, restaurant,
retail, and similar nonresidential uses.
• Mixed -Use Mariners' Mile (MU-MM) — Mixed -Use Mariners' Mile is intended to provide for areas
appropriate for commercial and residential uses. Mariners' Mile is located on the inland side of
Coast Highway in the Mariners' Mile Corridor. Properties that front Coast Highway may only be
developed for nonresidential purposes. Properties to the rear of the commercial frontage may be
developed for freestanding nonresidential uses, multi -unit residential dwelling units, or mixed -
use structures that integrate residential above the ground floor with nonresidential uses on the
ground floor.
• Mixed -Use Cannery Village and 15th Street (MU-CV/15th St.) — Mixed -Use Cannery Village and
15th Street is intended to establish a cohesive district or neighborhood containing multi -unit
residential dwelling units with clusters of mixed -use and/or commercial structures on interior lots
of Cannery Village and 15th Street on Balboa Peninsula. Allowed uses include multi -unity dwelling
units; nonresidential uses; and/or mixed -use structures, where the ground floor is restricted to
nonresidential uses along the street frontage. Residential uses and overnight accommodations
are allowed above the ground floor and to the rear of uses along the street frontage. Mixed -Use
or nonresidential structures are required on lots at street intersections and are allowed, but not
required, on other lots.
• Mixed -Use Water (MU-W1) — Mixed -Use Water is intended to be applied to waterfront properties
along the Mariners' Mile Corridor in which nonresidential uses and residential dwelling units may
be intermixed. A minimum of 50 percent of the allowed square footage in a mixed -use
development shall be used for nonresidential uses in which marine -related and victor -serving land
uses are mixed. An approved site development review is required prior to any development to
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-13
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
ensure uses are fully integrated and that potential impacts from their differing activities are fully
mitigated. Design of nonresidential space to facilitate marine -related uses is encouraged.
• Mixed -Use Water (MU-W2) — This second Mixed -Use Water designation is intended to apply to
waterfront properties in which marine -related uses may be intermixed with general commercial,
visitor -related commercial and residential dwelling units on the upper floors.
The City's Zoning Code also regulates the development on land through minimum and maximum
standards on lot size, lot width and depth, setbacks, and on lot coverage and floor -area ratio (FAR).
Table 3-6 below provides the development standards for each residential zoning district in Newport
Beach:
Table 3-6: Development Standards in Newport Beach — Dimensions
Dimensions
Min. Yard Setbacks
Construction Standards
Zone
Min. Lot
Min. Lot
Min. Lot
Front
Side
Rear
Max.
Max. Site
Size (square
Width
Depth
(feet)
(feet)
(feet)
Height
Max. FA
Coverage
Coverage(feet)
(feet)
(feet)'
Residential Districts
R-A
87,120
125
N/A
20
5
25
24,296
N/A
40%
2.0 (Citywide)
R-1
60,501
N/A
20
3, 4z
10
24,296
1.5
N/A
5,000 1
(Corona del
Mar)
R-1-6,000
6,000
60
80
20
6
6
24,291
N/A
60%
R-1-7,200
7,200
70
90
20
5
20
35,406
N/A
60%
R-1-10,000
10,000
90
100
15
10
10
24,296
N/A
60%
R-BI
2,375
60,501
N/A
20
See
10 ft.
24,296
•5fplus 200
N/A
Note 3.
sq•
2.0 (Citywide)
R 2
6,000,
60, 501
N/A
20
See
10 ft.
24, 296
1.5
N/A
5,000 1
Note 3.
(Corona del
Mar)
R-2-6,000
6,000
60
80 ft.
20
6 ft.
6 ft.
24,296
N/A
60%
RM
60, 501
N/A
20
See
10 ft.
28,336
1.74
N/A
5,000 1
Note 3.
RMD
60, 501
N/A
20
See
25 ft.
28,336
N/A
N/A
5,000 1
note 4.
RM-6,000
60
60
80
20
6 ft.
6 ft.
28,336
N/A
60%
Mixed -Use Zoning Districts
MU-V
2,500
25
0
0-55
0-51
26, 316
1.0 (Mixed -
Use)
MU-MM
10,000
50
0
0-55
0-55
26, 316
1.0 (Mixed -
Use)
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-14
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Dimensions
Min. Yard Setbacks
Construction Standards
Zone
Min. Lot
Min. Lot
Min. Lot
Front
Side
Rear
Max.
Max. Site
Size (square
Width
Depth
(feet)
(feet)
(feet)
Height
Max. FA
Coverage
Coverage(feet)
(feet)
(feet)'
MU-DW
40,000
100
0
0-55
0-55
32, 376
1.0 (Mixed -
Use)
MU
CV/15th St.
5,000
40
0
0-55
0-55
26, 316
1.0, 1.5 7
MU-W1
20,000
200
0
0-55
0-55
26, 316
1.0, 1.5 7
MU-W2
2,500
25
0
0-55
0-55
26, 316
0.75, 0.87
Notes:
(1) Corner Lot, Interior Lot respectively
(2) lots <40 wide, lots >40 wide respectively
(3) 3 ft. for lots > 40ft. wide, 4 ft. for lots 40'1" — 49'11" wide, and 8% of Average
Lot Width for lots > 50 ft. respectively,
(4) N/A for lots > 40ft. wide, 5 ft. for lots 40'1" — 49'11" wide, and N/A for lots > 50 ft.
(5) Adjoining residential district
(6) Flat roof, Sloped roof respectively
(7) Mixed Use, Residential respectively
Yard Requirements
Yards allow for open space, landscaping and greenery, emergency access, and pedestrian and vehicular
circulation on a site. Requirements are set in order to ensure there is adequate available space designated
to these elements on a property when considering new development or improvements. Included in these
requirements are setbacks areas that are located between a setback line and the property line and must
remain unobstructed. Setbacks provide the following:
• Visibility and traffic safety
• Access to and around structures
• Access to natural light and ventilation
• Separation of incompatible land uses
• Space for privacy, landscaping, and recreation
• Protection of natural resources
• Safety from fire and geologic hazard
The City's yard requirements do not prohibit residential developments from reaching the maximum
density on varying lands/sites, it therefore is not a constraint to the development of housing, specifically
housing affordable to low and very low-income households. Additionally, the City's Density Bonus
programs provides incentives for the development of affordable housing, including a reduction in the site
development standards (e.g., site coverage, setbacks, increased height up to the maximum allowed,
reduced lot sizes, and/or parking requirements.
'itP r'_nvPranP and Flnnr A --a I imif
Site coverage and Floor Area Limit (FAL) requirements maintain mass and intensity of a use for residential
uses. The Newport Beach Zoning Code defines site coverage as the percentage of a site covered by
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-15
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
structures and accessory structures, as well as decks that exceed 30 inches in height. Maximum site
coverage standards limit the footprint of a building and calculates it as a percentage between the ground
floor area of a building and the net area of a lot.
The FAL refers to the gross floor area allowed on a residential lot and is determined by multiplying the
allowed buildable area of the lot times the applicable multiplier for the lot. FAL requirements limit the
total usable floor area to limit the bulk of a building to the land, other buildings, and public facilities.
Maximum Building Heighi
Maximum building heights are set and defined in the City's Zoning Code to maintain symmetry and
compatibility between existing and proposed developments. The height is measured as the vertical
distance from the grade of the pad to the highest part of the structure, including protective guardrails and
parapet walls. The height limit may be increased within specific areas through the adoption of a Planned
Community Development, a specific plan, a planned development permit, a coastal development permit
in the coastal zone, or a site development review. The deviation in maximum height limit requires
approval of a discretionary action.
• R-A, R-1, R-BI, and R-2 Zoning Districts have height limits of 24 feet for structures with flat roofs
(including guard rails and parapet walls) and 29 feet for sloped roofs. A discretionary approval
may permit height up to 28 feet for flat roofs and 33 feet for sloped roofs.
• RM and RMD Zoning Districts have height limits of 28 feet for structures with flat roofs and 33 feet
for sloped roofs. The height of the structure may be increased to 32 feet for foot roof and 37 feet
for sloped roofs through discretionary approval. Properties located in the Height (H) Overlay
District may increase height limits to 40 feet for flat roofs and 45 feet for sloped roofs.
• Planned Community Districts may also propose and regulate their own height limits.
The City's building height requirements do not prohibit residential developments from reaching the
maximum density on varying lands/sites, it therefore is not a constraint to the development of housing,
specifically housing affordable to low and very low-income households. Additionally, the City's Density
Bonus programs provides incentives for the development of affordable housing, including a reduction in
the site development standards (e.g., site coverage, setbacks, increased height up to the maximum
allowed, reduced lot sizes, and/or parking requirements.
Additionally, the City has identified sites in the RM and MU zones (listed in Appendix B) which can
accommodate a portion of the City's RHNA allocation. The heights identified for the Multiple Residential
(RM) and Mixed -Use (MU) Zones are considered base height limits and can be altered through a
discretionary approval process.
• However, most of the denser residential development projects are within planned communities
where the developer sets the identified height limitation. Examples of this include:
• Uptown Newport Planned Community Zoning District (PC-58), which allows for heights up to 150
feet
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-16
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
• Residential Overlay within the Newport Place Planned Community Zoning District (PC-11), which
has a base height limit of 55 feet that can be increased up to the maximum allowable under
Federal Aviation Regulation (FAR) Part 77
• San Joaquin Plaza Planned Community Zoning District (PC-19) allows heights up to 69 feet
The City will establish housing overlay zones that will apply to all opportunity sites in each focus area. Like
the Residential Overlay within the Newport Place Planned Community Zoning District (PC-11) and other
planned communities, the future housing overlay will establish increased height limits appropriate to
accommodate the proposed densities. The details of the housing overlay zones are yet to be determined.
Usable Open Space
The City's Zoning Code defines Usable Open Space as an outdoor or enclosed area on the ground, roof,
balcony, deck, porch, or terrace, used for outdoor living, active or passive recreation, pedestrian access,
or landscaping. This does not include parking facilities, driveways, utility, or service areas, required
setbacks, and sloped or submerged land. All residential districts in Newport Beach have a maximum site
coverage to allow for open space. Mixed -Use districts require 75 square feet per dwelling unit of common
open space and 5 percent of the gross floor area of private open space for each unit.
The City's usable open spaces requirements do not prohibit residential developments from reaching the
maximum density on varying lands/sites, it therefore is not a constraint to the development of housing,
specifically housing affordable to low and very low-income households. Additionally, the City's Density
Bonus programs provides incentives for the development of affordable housing, including a reduction in
the site development standards (e.g., site coverage, setbacks, increased height up to the maximum
allowed, reduced lot sizes, and/or parking requirements.
Adequate off-street parking shall be provided to avoid street overcrowding and maintain parking
opportunities for the public to visit the coast. This is maintained through the City's parking requirements
for each housing unit type, as shown in Table 3-7. Parking requirements may add to the development cost
of a property and project as spaces and garage parking create additional costs and remove potentially
livable space.
Table 3-7: Parking Reauirements for Residential Uses
Unit Type
Number of Spaces Required
Accessory Dwelling Unit
1 parking space, with exceptions (11
Junior Accessory Dwelling Unit
No additional parking required
Single -Unit Dwellings —Attached
2 per unit in a garage
Single -Unit Dwellings — Detached and less than
2 per unit in a garage
4,000 sq. ft. of floor area
Single -Unit Dwellings — Detached and 4,000 sq. ft.
3 per unit in a garage
of floor area
Single -Unit Dwellings — Balboa Island
2 per unit in a garage
2 per unit covered, plus guest parking
Multi -Unit Dwellings-3 units
1-2 units, no guest parking required
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-17
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Unit Type
Number of Spaces Required
3 units, 1 guest parking space
Multi -Unit Dwellings-4 units or more
2 per unit covered, plus 0.5 space per unit for guest parking
Two -Unit Dwellings
2 per unit; 1 in a garage and 1 covered or in a garage
Live/Work Units
2 per unit in a garage, plus 2 for guest/customer parking
Senior Housing — Market Rate
1.2 per unit
Senior Housing —Affordable
1 per unit
Note:
1. Parking is waived for ADUs if the property is within % mile walking distance to transit (including ferry); within an
architecturally or historically significant district; on -street parking permits are required and not provided to the occupant
of the ADU; or within one block of a car -share vehicle pick-up/drop-off location
Source: City of Newport Beach Municipal Code
The City's parking requirements vary depending on type of unit. As shown in Table 3-7, the City's parking
requirements are similar to those throughout the region and are based on generation rates by use type.
Multiple family parking requirements are not overly restrictive and the City may grant exceptions to these
standards through state -required density bonus provisions and other provisions in the Municipal Code.
As part of the city's rezone program to accommodate future housing growth, development standards,
such as parking requirements, will be evaluated to potentially provide additional incentives, concessions
reductions or modifications, as appropriate The City's Density Bonus program also provides incentives for
the development of affordable housing, including a reduction in the site development standards (e.g., site
coverage, setbacks, increased height up to the maximum allowed, reduced lot sizes, and/or parking
requirements.
Additionally, the City has not denied any residential projects based upon a lack of required parking.
Parking has also not been identified by prospective residential development proponents as a constraint.
If, however, parking is identified as an issue, then the City's Zoning Code offers alternative means of
compliance through off -site parking, demonstrative a reduced -parking demand, or a shared -parking
arrangement. This is accomplished through review and approval of a use permit (see NBMC Sections
20.40.100 (Off -Site Parking) and 20.40.110 (Adjustments to Off -Street Parking Requirements) or their
successor sections.
Furthermore, parking standards can be modified through projects taking advantage of a density bonus, if
deemed necessary.
Variety of Housing Types Permitted
Housing Element Law requires jurisdictions to identify sites to be made available through zoning and
development standards in order to facilitate development of a variety of housing types for all
socioeconomic levels of the population. Housing types include single -unit dwellings, multi -unit housing,
accessory dwelling units, factory -built housing, mobile homes, employee and agricultural work housing,
transitional and supportive housing, single -room occupancy units (SROs), and housing for persons with
disabilities. Table 3-8 below identifies the various housing types permitted within each residential and
Table 3-9 identified housing types permitted in mixed -use zoning district in Newport Beach.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-18
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table 3-8: Various Housing Types Permitted in Residential Zones
Residential Zones
Nonresidential Zones
Housing Type
R-A
R-1*
R-B
R-2
RM
RMD
Os
PF
PR
PI
IG
OA
OG
OM
OR
CC
CG
CM
CN
CV
CV_LV
Single -Unit Dwellings —Attached
-
-
P
P
P
P
NA
NA
NA
NA
NA
Single -Unit Dwellings — Detached
P
P
P
P
P
P
NA
NA
NA
NA
NA
NA
NA
NA
NA
NA
NA
Multi -Unit Dwellings
--
-
--
--
P
P
NA
NA
NA
NA
NA
NA
NA
NA
NA
NA
Two -Unit Dwellings
--
--
P
P
P
P
NA
P'"
NA
NA
N^
NA
A'^
"'A
NA
A'^
Accessory Dwelling Unit(s)
P
P
P
P
P
P
NA
NA
NA
NA
NA
Junior Accessory Dwelling Unit(s)
P
P
P
P
P
P
NA
--
NA
--
NA
NA
Live -Work Units
--
-
--
--
--
--
A
--
NA
--
NA
NA
Short -Term Lodging
--
--
P
P
P
P
NA
NA
--
NA
--
NA
NA
NA
NA
NA
NA
Residential Care Facilities — Limited
(6 or fewer) Licensed
P
P
P
P
P
P
1
NA
--
NA
--
NA
NA
NA
NA
NA
NA
Residential Care Facilities — Limited
(6 or fewer) Unlicensed
CUP-
HO
CUP-
HO
A
NA
NA
A
NA
NA
NA
Residential Care Facilities —General
(7 or More) Licensed
CUP-
HO
CUP-
HO
--
--
NA
NA
NA
NA
Residential Care Facilities —General
(7 or More) Unlicensed
CUP-
HO
CUP-
HO
A
NA
NA
NA
NA
NA
Residential Care Facilities —Integral
Facilities/Integral Uses
CUP-
HO
CUP-
HO
NA
NA
NA
NA
Residential Care, Accessory Use Only
MUP
--
MUP
NA
NA
NA
NA
Caretaker Residence
NA
NA
P
NA
NA
NA
NA
I
Congregate Care Home
--
--
--
MUP
NA
Convalescent Facilities
--
--
--
MUP
NA
Parolee -Probationer Home
-
--
--
--
--
--
--
a
NA
NA
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-19
(Revised Draft June 2022)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Residential Zones
Nonresidential Zones
Housing Type
CV-
R-A
R-1*
R-BI
R-2
RM
RMD
Os
PF
PR
PI
IG
OA
OG
OM
OR
CC
CG
CM
CN
CV
LV
Farmworker Housing
NA
NA
A
NA
NA
'A
NA
N,
Supportive Housing
NA
NA
NA
NA
NA
NA
NA
NA
NA
NA
NA
Transitional Housing
NA
NA
NA
NA
NA
NA
NA
AIA
NA
AIA
Emergency Shelters
--
--
--
--
--
--
--
--
--
P
P
--
--
--
NA
Low Barrier Navigation Centers
IVA
NA
NA
NA
NA
NA
nia
NA
SRO Residential Hotel
NA
NA
NA
NA
NA
NA
CUP
CUP
CUP
CUP
CUP
CUP
CUP
CUP
CUP
-
Notes:
P — Permitted by Right
A — Allowed
MUP — Minor Use Permit
CUP-HO — Conditional Use Permit in Residential Zoning
Districts
(--) - Not Allowed
NA — Not Listed/Stated
*Located above 15t floor
Source: City of Newport Beach Municipal Code
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-20
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table 3-9: Mixed -Use Housing Types Permitted in Mixed -Use Zones
Zones
Housing Type
MU -CV/
MU-V
MU-MM
MU-DW
15th St.
MU-W1
MU-W2
Single -Unit Dwellings —
P. (1)
--
--
P (3)
P* (1)
P* (2)
Attached
Single -Unit Dwellings —
Detached
Multi -Unit Dwellings
P* (1)
P (1)(2)
P (1)
P (3)
--
--
Two -Unit Dwellings
P* (1)
--
--
P (3)
--
--
Accessory Dwelling Unit(s)
P
P
P
P
P
P
Junior Accessory Dwelling
P
P
P
P
P
P
Unit(s)
Live -Work Units
P
P (1)(2)
P
P (3)
--
--
Notes:
*Located above 1st floor
(1) Allowed only as part of a mixed -use development. Refer to Section 20.48.130 (Mixed -Use Projects) for additional
development standards.
(2) Not allowed to front onto Coast Highway.
Not allowed on lots at street intersections unless part of a mixed -use or live -work structure.
Source: City of Newport Beach Municipal Code
jingle -Unit Dwelling
A Single -Unit Dwelling is defined as a structure on a single lot containing one dwelling unit and one
housekeeping unit. The structure shall be constructed in compliance with the California Building Code
(CBC) and placed on a permanent foundation. Single -Unit Dwellings may be attached or detached. An
attached dwelling is owned in fee, located on an individual lot, and shares a wall or roof with another
structure. A detached dwelling is also owned in fee and located on an individual but is not connected to
another structure in any way.
Multi -Unit Dwelling
A Multi -Unit Dwelling contains three or more dwelling units within the same structure occupied on a single
lot. Each dwelling unit is occupied by separate housekeeping units. This housing type includes triplexes (3
dwelling units in one structure), fourplexes (four dwelling units in one structure), and apartments (5 or
more dwelling units in one structure), where each structure is owned by one entity and each dwelling unit
is rented out. Condominiums are also multi -unit dwellings, but each individual dwelling unit is owned by
separate entities. The structure must be placed on a permanent foundation and constructed in
compliance with the California Building Code (CBC).
r-wn-Unit 1)wAllinr
A Two -Unit Dwelling contains two dwelling units, each occupied by their own housekeeping unit, and
located within the same structure. This may be referred to as a duplex. The structure must be placed on
a permanent foundation and constructed in compliance with the California Building Code (CBC).
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-21
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Accessory Dwelling Unit (ADU)
An Accessory Dwelling Unit is a secondary dwelling unit, attached or detached, to the primary residence(s)
on a single lot. This may be referred to as a "granny flat," "in-law unit," or "carriage house." An ADU must
include a kitchen, a full bathroom, a living area, and a separate entrance. The Newport Beach Zoning Code
includes efficiency units and manufactured homes as ADUs. Junior ADUs (JADUs) are defined by the City's
Municipal Code as a dwelling unit accessory to and entirely contained within an existing or proposed
single -unit dwelling. A JADU may not be greater than 500 square feet, and it must either include its own
sanitation facilities or share facilities with the single -unit dwelling. A JADU must also include its own
efficiency kitchen.
I A1n_IA1nrk I►nit
Live -Work Units refer to structures that include both a commercial and a single dwelling unit. Commercial
uses are generally located on the ground floor, with the dwelling unit located one to two stories above.
4hort-Term Lodging
Short -Term Lodging refers to a dwelling unit that is rented or leased as a single housekeeping unit for 30
days or less.
Single -Room Occupancy (SRO)
Within the Zoning Code, SROs fall under the classification of Visitor Accommodations and are defined as
buildings with six or more guest rooms without kitchen facilities in individual rooms, or kitchen facilities
for the exclusive use of guests, and which are also the primary residences of the hotel guests. SROs are
permitted in all commercial (CC, CM, CN, CV) and office (OG, OM, OR) zoning districts with the approval
of a conditional use permit. To facilitate the development of SROs within these districts, the City will not
develop, nor impose, any special set of conditions or use restrictions on SROs; instead, each application
would be evaluated individually and approved based upon its own merits and circumstances. Additionally,
the Housing Element includes a Policy Action 30 to encourage and facilitate the development of at least
one SRO development, or the preservation and rehabilitation of an SRO development, within the Planning
Period.
Resident;-' ►�`���
On January 22, 2008, the City Council approved Ordinance No. 2008-5 ("Ordinance") with the intent of
maintaining zoning protections for residential districts, while benefiting disabled persons who wished to
live in those districts. This Ordinance balances the protections granted under the federal Fair Housing
Act, Fair Housing Act Amendments (42 U.S.C. Section 3601) and other state and federal laws (i.e.
Americans with Disabilities Act) to persons with disabilities, while also ensuring the residential character
of the neighborhood is maintained.
As defined by the City, Residential Care Facilities provide housing for individuals with a disability and are
commonly referred to as group homes, sober living homes, and state licensed alcoholism or drug abuse
recovery or treatment facilities. Facilities that provide treatment services are required to be licensed by
the State of California Department of Social Services or Department of Health Care Services ("DHCS").
Unlicensed facilities are not allowed to provide treatment services, but rather are meant to provide an
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-22
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
interim environment between rehabilitation and stabilized living. Depending on the number of persons
residing within the facility and treatment provided, residential care facilities are further classified as
follows:
• General Licensed (Seven or More Persons)
• General Unlicensed (Seven or More Persons)
• Limited Licensed (Six or Fewer Persons)
• Small Unlicensed (Six or Fewer Persons)
The purpose of the Ordinance is to allow disabled persons to live in a residential setting while ensuring
that the residential care facilities are operated in a manner consistent with the residential character of
surrounding neighborhoods, do not recreate an institutional environment that would defeat the purpose
of community -based care, and that residential care facilities serving the disabled are operating in
compliance with City and state laws/regulations. To achieve these purposes and to provide disabled
persons with an equal opportunity to use and enjoy a dwelling in the City's residential zoning districts, the
City treats licensed residential care facilities for six or fewer persons as single -unit residence permitted
by -right in all residential -zones (R-A, R-1, R-BI, R-2, RM, and RMD). Also, residential care facilities for seven
or more persons and unlicensed residential care facilities are permitted in the following zoning districts,
with a Conditional Use Permit:
• Residential Districts— RM and RMD zoning districts.
• Planned Community Districts —Property development regulations applicable to residential
districts, related to residential care facilities, shall also apply to the corresponding portions of
the PC Districts.
The location and permitting requirements applicable to larger and unlicensed residential care facilities are
intended to avoid overconcentration so as to maintain the residential character of a neighborhood, which
if lost would have an adverse effect on the welfare of the individuals' receiving services from the
residential care facility and defeat the purpose of community -based recovery. The American Planning
Association's Policy Guide on Community Residences, which supports residential care facilities, states that
residential care facilities should be scattered throughout residential districts rather than being
concentrated on any single block or in any single neighborhood. If several residential care facilities are
located next to one another, or are placed on the same block, the ability of the residential care facilities
to achieve normalization and community integration would be compromised.
Also, the Departments of Justice and Housing Urban Development have stated that a neighborhood
composed largely of residential care facilities could adversely affect individuals with disabilities and would
be inconsistent with the objective of integrating persons with disabilities into the community. The
California Research Bureau similarly found that facilities should be scattered throughout residential
districts, and facilities so densely clustered as to recreate an institutional environment would defeat the
purpose of community -based care.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-23
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
^+ L
Newport Beach has a significant number of residential care facilities compared to other communities.
According to DHCS and City records, there are currently 21 state -licensed residential treatment facilities
and an additional 8 City -permitted unlicensed residential facilities in Newport Beach, a community which
as of 2019 had a total resident population of 85,694. As a measure of comparison, there are currently
only 8 state -licensed residential treatment facilities in Sacramento which had a total residential
population of 500,930 people, as of 2019.
As set forth above, the City has a significant number of residential care facilities, when compared to other
cities, and, under the current regulations, there are significant portions of the City that can accommodate
additional facilities. In addition, the City's has a well-defined Reasonable Accommodation procedure,
which further ensures individuals with disabilities are protected. Specifically, Section 20.52.070 of the
Newport Beach Municipal Code provides procedures for obtaining reasonable accommodation from the
City's zoning and land use regulations, policies, and practices when necessary to provide an individual with
a disability an equal opportunity to use and enjoy a dwelling. With a reasonable accommodation, a group
of disabled individuals can reside in any district zoned for residential use within the City.
Section 20.52.070 ensures that reasonable accommodation requests are processed efficiently without
imposing costs on the applicant. The City does not assess a fee for reasonable accommodation requests.
Although a public hearing is required, the matter is heard before a Hearing Officer rather than the Planning
Commission, which helps establish an apolitical and more objective decision -making authority, and results
in a more expedited processing. As described in more detail in the Reasonable Accommodation Section of
the Housing Element, the findings are based on the objective need to provide an individual with a disability
an equal opportunity to use and enjoy a dwelling. To date, the City has approved three conditional use
permits and six reasonable accommodations for general and unlicensed residential care facilities, which
shows that these processes are not a significant constraint.
It is also important to note that these types of facilities are the only groups not living as a single
housekeeping unit that may be established in a residential district. Other types of group residential uses
occupied by two or more persons not living as a single housekeeping unit (e.g. dormitories, fraternities,
sororities, and private residential clubs) are not permitted within residential districts. By providing an
opportunity to establish residences with a conditional use permit or reasonable accommodation to
disabled groups, the Municipal Code gives more favorable treatment to disabled groups not living as single
housekeeping units than it gives to non -disabled groups that are not living as a single housekeeping unit.
Therefore, groups of disabled individuals are distinguished only to the extent they are treated
preferentially.
;„►,,..�: ,► r ,.,, �acil�+:^� .-eneL--' Lice.-.- 4 ic,,.,,,.. ,.� nn,,.,, o„��,...�►
General Licensed Residential Care Facilities provide a single housekeeping unit for individuals with a
disability who reside at the facility. There may be 7 or more individuals residing at the facility, but they
each reside in separate dwelling units. The facility may include a place, site or building, or groups of places,
sites, or buildings, licensed by the State.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-24
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Residential Care Facilities — General Unlicensed (Seven or More Persons)
General Unlicensed Residential Care Facilities include a place, site or building, or groups of places, sites,
or buildings, which are not licensed by the State and provide housing to 7 or more individuals with
disabilities in separate dwelling units. The facility is not required by law to be licenses by the State.
"acirlanfinl (nrc Farilifiac — I imifarl I irancarl 19 nr FaIA/cr Parcnnc)
Limited Licensed Residential Care Facilities provide care, services, and/or treatment in a community
residential setting for six or fewer individuals. Individuals may include adults, children, or adults and
children. The facility shall be considered a single housekeeping unit and must therefore be in compliance
with all land use and property development regulations applicable to single housekeeping units.
Residential Care Facilities Small Unlicensed (6 or Fewer Persons)
Small Unlicensed Residential Care Facilities include a place, site or building, or groups or places, sites, or
buildings in which 6 or fewer individuals with disabilities reside in separate dwelling units. The facility is
not required by law to be licensed by the State.
Parolee -Probationer Home
Parolee -Probationer Home refers to a structure or dwelling unit which houses 2 or more parolees -
probationers who are unrelated by blood, marriage, or legal adoption. The parolees -probationers reside
here in exchange for monetary or nonmonetary consideration given and/or paid by the parolee -
probationer and/or any public or private entity or person on behalf of the parolee -probationer. The
residential structure may be operated by an individual, a for -profit entity, or a nonprofit entity.
RA-k;l- LJ,..., — nark
A Mobile Home refers to a transportable trailer that is certified under the National Manufactured Housing
Construction and Safety Standards Act of 1974. The mobile home is over 8 feet in width and 40 feet in
length and may or may not include a permanent foundation. A mobile home on a permanent foundation
is considered a single -unit dwelling.
Convalescent Home
Convalescent Home refers to an establishment that provides 24-hour care for persons requiring regular
medical attention. A convalescent home may be referred to as a "nursing home" or "hospice." This facility
does not provide emergency medical services or surgical services.
Common Interest Development
Common Interest Developments include community apartment projects, condominium projects, planned
developments, and stock cooperative.
. armworker huusing
Farmworkers are considered a special needs interest group by HCD. Farmworkers are traditionally defined
as people whose primary incomes are earned through permanent or seasonal agricultural labor.
Farmworkers are generally considered to have special housing needs due to their limited income and the
often -unstable nature of their employment. In addition, farmworker households tend to have high rates
of poverty, live disproportionately in housing that is in the poorest condition, have extremely high rates
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-25
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
of overcrowding, and have low homeownership rates. There is a total of 1,772 farmworkers in the County
of Orange, though few may reside in Newport Beach the City must consider the housing needs of this
community. The Newport Beach Municipal Code does not explicitly define Farmworker Housing or outline
it as a permitted use in residential or nonresidential zones. Policy Action 30 of the Section 4: Housing
Plan outlines the City's strategy to update the Municipal Code in accordance with state legislation.
'finnnrtivA 14nu4zinri
California State Assembly Bill 2162 amended Section 65583, Planning and zoning law to specify that
supportive housing is a residential use of property, subject only to those restrictions that apply to other
residential dwellings of the same type in the same zone. The City of Newport Beach's Municipal Code does
not explicitly define Supportive Housing or identify zones where is it is a permitted use. Policy Action 7B
of the Section 4: Housing Plan outlines the City's strategy to update the Municipal Code in accordance
with state legislation.
Transitional Housinr
The City of Newport Beach defines Transitional Housing as rental housing operating under program
requirements that call for the termination of assistance and recirculation of the assisted unit to another
eligible program recipient program at some predetermined future point in time, which shall be no less
than six months. Transitional housing that is provided in single-, two- or multi -unit dwelling units, group
residential, parolee -probationer home, residential care facilities, or boarding house uses shall be
permitted, conditionally permitted or prohibited in the same manner as the other single-, two-, or
multi -unit dwelling units, group residential, parolee -probationer home, residential care facilities, or
boarding house uses under this code.
The City of Newport Beach's Municipal Code does not explicitly identify Transitional Housing as a
permitted use within the appropriate zones as required by state law. Policy Action 7B of the Section 4:
Housing Plan outlines the City's strategy to update the Municipal Code in accordance with state
legislation.
Crv��viv�r���i CHI/f�vc
State Law existing law authorizes a political subdivision to allow persons unable to obtain housing to
occupy designated public facilities, as defined, during the period of a shelter crisis. Existing law provides
that certain state and local laws, regulations, and ordinances are suspended during a shelter crisis, to the
extent that strict compliance would in any way prevent, hinder, or delay the mitigation of the effects of
the shelter crisis. The City of Newport beach permits Emergency shelters in the OA — Office Airport zoning
district and the PI — Private Institutions Coastal zoning district.
Properties designated for PI are distributed throughout the City, but primarily located along major
transportation corridors and offer easy access to public transportation. The PI zoning district is intended
to provide for areas appropriate for privately owned facilities that serve the public, including places for
assembly/meeting facilities (e.g., religious assembly), congregate care homes, cultural institutions, health
care facilities, marinas, museums, private schools, yacht clubs, and comparable facilities. There are over
44 parcels totaling approximately 135 acres in the proposed PI zoning district. Several of the existing uses
on these properties are religious assembly uses, many of which consist of large campuses. Given the high
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-26
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
land costs in the City, these religious assembly facilities could provide the best means to facilitate the
development and management of emergency shelters in the City.
Additionally, properties designated for OA are located within three large blocks east of John Wayne
Airport, west of Birch Street, north of Bristol Street/73 Freeway, and south of MacArthur Boulevard. These
properties are also located along major transportation corridors and offer easy access to public
transportation. The AO zoning district is intended to provide for areas appropriate for the development
of properties adjoining the John Wayne Airport for uses that support or benefit from airport operations.
These may include corporate and professional offices; automobile sales, rental and service; aviation sales
and service; hotels; and accessory retail, restaurant, and service uses. There are over 56 parcels totaling
approximately 54 acres in the AO zoning district. Several of the existing uses on these properties are low
and medium density professional office buildings, many of which are aging and offer affordable rents
compared to most other parts of the City. These properties should provide realistic opportunities for reuse
of these structures for the development and management of emergency shelters in the City. Combined,
the PI and AO zoning districts consist of over 98 parcels and 189 acres. By allowing emergency shelters as
permitted uses within these districts, adequate sites are available for the potential development of
emergency shelters in the City.
Low Barrier Navigation Centers
AB 101 states that "The Legislature finds and declares that Low Barrier Navigation Center developments
are essential tools for alleviating the homelessness crisis -." Low Barrier Navigation Centers are defined as
a Housing First, low -barrier, service -enriched shelter focused on moving people into permanent housing
that provides temporary living facilities while case managers connect individuals experiencing
homelessness to income, public benefits, health services, shelter, and housing. Low Barrier Navigation
Centers are required as a use by right in areas zoned for mixed uses and nonresidential zones permitting
multi -unit uses if it meets specified requirements. The City of Newport Beach's Municipal Code does not
address Low Barrier Navigations Centers by definition. A program will be adopted to ensure the City's
development standards allow Low Barrier Navigation Centers By -Right in all zones that permit mixed -uses
and non-residential uses. Policy Action 7A of the Section 4: Housing Plan outlines the City's strategy to
update the Municipal Code in accordance with state legislation.
'- - -ied ^ommunitill,
The Planned Community (PC) District is intended allow for a coordinated variety of uses and allows
projects to benefit from large-scale community building. PC Districts allow for greater flexibility and less
restrictive development regulations, while also maintaining compliance with the intent and provisions of
the Zoning Code. The Newport Beach Municipal Code states that a PC District may include various types
of uses given they are consistent with the General Plan through the adoption of a development plan and
text materials that identify land use relationships and associated development standards.
PC Districts allow for large scale housing projects on land areas no less than 25 acres of unimproved land
area or 10 acres of improved land area; however, the City Council may waive the minimum acreage
requirements. Improved land area refers to parcels of land with existing permanent structures occupying
at least 10 percent of the total PC District. The subject property must be reclassified as a PC District and a
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-27
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Development Plan must be filed with the City to initiate the development process. The Development
Plans are reviewed by the Director, scheduled for a public hearing before the Planning Commission for a
recommendation, and approved by the City Council. A Planned Community District must also go through
an environmental review.
The Development Plan must contain:
• A land use map containing the distribution, location, and extent of uses proposed
• Land use tables designating permitted uses
• Development standards
• Protection measures for landforms and public views
• Sustainable improvement standards
• Location and extent of essential facilities including circulation and transportation, drainage,
energy, sewage and waste disposal, and water
• Development standards for conservation, development, and utilization of natural resources
• A program of implementation measures, programs, regulations, and public works projects
• A topographical map to illustrate the character of the terrain and condition of existing vegetation
• A summary of the relationship between the proposed development plan and the goals, policies,
and actions of the General Plan
Growth Management Measures
Growth management measures are techniques used by a government to regulate the rate, amount, and
type of development. Growth management measures allow cities to grow responsibly and orderly,
however, if overly restricted can produce constraints to the development of housing, including accessible
and affordable housing.
On November 7, 2000, the Newport Beach electorate approved Measure S. Measure S amended the
Newport Beach City Charter by adding Section 423, which requires voter approval of certain amendments
of the Newport Beach General Plan. Therefore, an amendment shall not take effect unless it has been
submitted to the voters and approved by a majority of those voting on it. Charter Section 423 encourages
the City Council to adopt implementing guidelines that are consistent with its purpose and intent. In the
case of Charter Section 423, an amendment to the General Plan is defined as any proposed amendment
of the General Plan that is first considered and/ or approved by the City Council subsequent to
December 15, 2000 and that increases the number of peak hour trips (traffic), floor area (intensity), or
dwelling units (density) when compared to the General Plan prior to approval.
Procedure
The City Council determines if an amendment requires voter approval pursuant to Section 423, based on
the following conditions:
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-28
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
• The Amendment modifies the allowed use(s) of the property or area that is the subject of the
Amendment such that the proposed use(s) generate(s) more than one hundred morning or
evening peak hour trips than are generated by the allowed use(s) before the Amendment; or
• The Amendment authorizes an increase in floor area for the property or area that is the subject
of the Amendment that exceeds forty thousand (40,000) square feet when compared to the
General Plan before approval of the Amendment; or
• The Amendment authorizes an increase in the number of dwelling units for the property or area
that is the subject of the Amendment that exceeds one hundred (100) dwelling units when
compared to the General Plan before approval of the Amendment; or
• The increase in morning or evening peak hour trips, floor area or dwelling units resulting from the
Amendment when added to eighty percent (80%) of the increases in morning or evening peak
hour trips, floor area or dwelling units resulting from Prior Amendments (see definition in
Section 2.1 exceeds one or more of the voter approval thresholds in Section 423 as specified in
Subsection 1, 2 or 3.
If the City Council determines a General Plan Land Use Element Amendment requires voter approval after
approving the Amendment, the City Council then adopts a resolution calling an election on the
Amendment. The City Council schedules the election at the next regular municipal election, as specified
by the City Charter. The City Attorney then prepares an impartial analysis of the Amendment, which
contains information about the Amendment, any related project or land use approval, and the
environmental analysis conducted that will help the electorate make an informed decision. In the absence
of an ordinance or Charter provision that establishes a procedure for submittal of arguments or rebuttals
relative to City measures, the City Council will adopt a resolution that authorizes the filing of arguments
and rebuttals in accordance with the general procedures specified in the Elections Code.
It is important to understand that Charter Section 423 only applies to General Plan amendments.
Individual housing development projects that do not require a General Plan amendment are already
accommodated within the General Plan and zoning framework. They would not be subject to Charter
Section 423 and would never require a vote of the electorate.
If a housing development project requires a General Plan amendment, any unit and peak hour traffic
increases added to the project through the Density Bonus process are not counted toward Charter Section
423 thresholds and a determination whether a vote is required. Ultimately projects that require a vote of
the electorate pursuant to Charter Section 423 may require additional costs and be subject to delays due
to the election process that may yield uncertain election results.
The City will implement Charter Section 423 when it amends the Land Use Element of its General Plan to
implement Policy Actions 1A through 1F provided in Section 4 of this Housing Element. The increases in
housing units and the peak hour traffic to accommodate the City's high RHNA allocation will exceed
Charter Section 423 thresholds requiring a vote of the electorate. However, Charter Section 423 includes
a statement that it shall not apply if State or Federal law precludes a vote of the electorate on the
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-29
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
amendment. As of the adoption of this Housing Element, it is unclear if the State RHNA mandate to
accommodate the City's RHNA allocation would preclude a vote pursuant to Charter Section 423.
It is the duty of the City Council to place the increases in housing and the traffic generated before the
voters of Newport Beach consistent with Charter Section 423. The vote will be scheduled in accordance
with the California Elections Code and the City Charter after the City Council carefully reviews and
approves the Land Use Element amendment and Zoning Strategies that support Policy Actions 1A through
1G. The City will prepare an Environmental Impact Report (EIR) in accordance with the California
Environmental Quality Act (CEQA) prior to acting on the Land Use Element amendment and Zoning
Strategies.
In 2006, the City adopted its comprehensive General Plan Update adding 1,166 housing units within its
Land Use Element. The update included the housing unit increases to accommodate the City's share of
the 4th RNHA cycle. In accordance with Charter Section 423, the update was submitted to the voters and
the measure passed. For the 61h cycle Housing Element, like the 2006 vote, the City will initiate an election
and pay for all costs associated with the ballot measure. The discussion within Housing Goal #1 in Section
4 details the milestones involved in the Land Use Element amendment vote process. The City may choose
to submit multiple ballot measures.
If the ballot measure passes, Charter Section 423 would not be an impediment in any way to housing
development projects supported by the Land Use amendment and Zoning implementation strategies
stemming from this Housing Element. The increases in housing units and their related peak hour traffic
would also not count against future General Plan amendment applications thereby reducing the
impediment that Charter Section 423 represents to future housing developments needing a subsequent
General Plan Amendment in the future.
Making any changes to Charter Section 423 is complicated and uncertain. To attempt modifications that
would exempt housing units from potentially requiring a vote is not a viable option. Placing a Charter
amendment before the voters would require City Council action that would be contrary to the will of the
people as expressed through Measure S in 2000 that resulted in Charter Section 423.
Based upon public comments received during the preparation of this Housing Element, there is no public
support to amend Charter Section 423 to accommodate the housing necessary to satisfy the State RHNA
mandate. The City Council publicly debated the prospects of amending Charter Section 423 through its
review of this Housing Element, and it is universally believed that placing such a Charter amendment
before the voters would be a waste of resources. Additionally, any effort to potentially amend Charter
Section 423 would potentially and unnecessarily delay the implementation of this Housing Element. It
could create voter fatigue reducing the prospects for success of a vote for the required Land Use Element
Amendment to implement this Housing Element pursuant to Charter Section 423.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-30
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Short -Term Lodging Ordinance
Short-term lodging refers to the rental and leasing of a dwelling unit to a single household for less than
30 consecutive days. Short-term lodging is predominantly used by tourists to the City and the homeowner
may or may not reside on the property.
The City of Newport Beach adopted Ordinance 2020-15 on July 15, 2020, which set permitting regulations
for short-term lodging throughout Newport Beach. The Ordinance allows short-term lodging in all
residential districts in the City with the approval of a permit and related fees. Ordinance 2020-15 is not
considered a constraint to housing in the City as the intent is to control short-term lodging and collect
Transient Occupancy Tax. The City provides information online for interested homeowners, Frequently
Asked Questions, and permit application processes.
Specific Plans
The purpose of a Specific Plan is to implement the goals and objectives of a city's General Plan in a more
focused and detailed manner that is area and project specific. The Specific Plan promotes consistency and
an enhanced aesthetic level throughout the project community. Specific Plans contain their own
development standards and requirements that may be more restrictive than those defined for the city as
a whole.
Santa Ana Heights
The Santa Ana Heights Community is located to the north of Newport Beach between East Side Costa
Mesa and the Upper Newport Bay. The area was previously within County of Orange's permitting
jurisdiction and the redevelopment project area was designated to eliminate blight. The land has since
been annexed into Newport Beach.
The principal objectives of the Santa Ana Heights Specific Plan include:
• Encourage the upgrading of existing residential neighborhoods and business development areas
• Ensure well -planned business park and commercial developments which are adequately buffered
from adjacent residential neighborhoods
• Encourage the consolidation of smaller contiguous lots in the business park area
• Ensure that business park and residential traffic are separated to the maximum extent possible,
while minimizing impact upon existing parcels
• Ensure adequate provision of public works facilities as development occurs
• Enhance equestrian opportunities with the residential equestrian neighborhood
• Enhance the overall aesthetic character of the community
The Santa Ana Heights Specific Plan identifies design and landscaping guidelines in Section 20.90.030 of
the Newport Beach Zoning Code; the development standards are provided in Table 3-6. Table 3-8 also
identifies the housing types permitted in each zoning district. Zoning district designations within the
project area include the following:
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-31
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Y-�
• Open Space and Recreational District: SP-7 (OS/R) — Open Space and Recreational District is
intended to establish the long-term use and viability of the Newport Beach Golf Course.
• Residential Equestrian District: SP-7 (REQ) Residential Equestrian District is intended to provide
for the development and maintenance of a single -unit residential neighborhood in conjunction
with limited equestrian uses. The zoning district is intended to maintain a rural character with an
equestrian theme.
• Residential Kennel District: SP-7 (RK) — Residential Kennel District is intended to provide for the
development of a single -unit residential neighborhood in conjunction with commercial kennel
businesses.
• Residential Single -Family District: SP-7 (RSF) — Residential Single -Family District is intended to
provide for the development of medium density single -unit detached residential neighborhoods.
Permitted uses should complement and be compatible with residential neighborhoods.
• Residential Multiple -Family District: SP-7 (RMF) — Residential Multiple -Family District is intended
to provide for the development of high -density multi -unit residential neighborhoods with a
moderate amount of open space. Permitted uses should complement and be compatible with
residential neighborhoods.
• Horticultural Nursery District: SP-7 (HN) — Horticultural Nursery District is intended to ensure the
long-term use and viability of the horticultural nursery uses located along Orchard Drive in the
western section of Santa Ana Heights.
• General Commercial District: SP-7 (GC) — General Commercial District is intended to provide
regulations for the commercial areas along South Bristol Street and ensure the continuation of
commercial uses which offer a wide range of goods and services to both the surrounding
residential and business communities. This district is intended to promote the upgraded aesthetic
image of the community and reduce conflicts between commercial and residential uses.
• Business Park District: SP-7 (BP) — Business Park District is intended to provide for the
development and maintenance of professional and administrative offices, commercial uses,
specific uses related to product development, and limited light industrial uses. The district shall
protect the adjacent residential uses through regulation of building mass and height, landscape
buffers, and architectural design features.
• Professional and Administrative Office District: SP-7 (PA) — Professional and Administrative
Office District is intended to provide for the development of moderate intensity professional and
administrative office uses and related uses on sites with large landscaped open spaces and off-
street parking facilities. This district is intended to be located along heavily trafficked streets or
adjacent to commercial or industrial districts. This district may also be used to buffer residential
areas.
• Professional, Administrative, and Commercial Consolidation District: SP-7 (PACC) — Professional,
Administrative, and Commercial Consolidation District is intended to provide for the development
of professional and administrative office uses and commercial uses on lots located between South
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-32
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
^�t a' ,Sit
Bristol Street and Zenith Avenue in a manner which ensures lot consolidation and vehicular access
to and from South Bristol Street.
• Planned Development Combining District (PD) — Planned Development Combining District is
intended to provide a method for land to be developed using design features which take
advantage of modern site planning techniques to produce an integrated development project
amongst existing and potential development of the surrounding neighborhoods.
Housing for Persons with Disabilities
Both the Federal Fair Housing Act and the California Fair Employment and Housing Act direct local
governments to make reasonable accommodations (that is, modifications or exceptions) to their zoning
laws and other land use regulations when such accommodations may be necessary to afford disabled
persons an equal opportunity to use and enjoy a dwelling.
The Housing Element Update must also include programs that remove constraints or provide reasonable
accommodations for housing designed for persons with disabilities. The analysis of constraints must touch
upon each of three general categories: 1) zoning/land use; 2) permit and processing procedures; and
3) building codes and other factors, including design, location and discrimination, which could limit the
availability of housing for disabled persons.
►-asnnable Accnmmndatin�
Reasonable accommodation in the land use and zoning context means providing individuals with
disabilities or developers of housing for persons with disabilities, flexibility in the application of land use
and zoning and building regulations, policies, practices and procedures, or even waiving certain
requirements, when it is necessary to eliminate barriers to housing opportunities. For example, it may be
reasonable to accommodate requests from persons with disabilities to waive a setback requirement or
other standard of the Newport Beach Municipal Code to ensure that homes are accessible for the mobility
impaired. Whether a particular modification is reasonable depends on the circumstances.
Section 20.25.070 (Reasonable Accommodation) of the Newport Beach Municipal Code provides a
procedure and sets standards for disabled persons seeking a reasonable accommodation in the provision
of housing and is intended to comply with federal and state fair housing laws. A request
for reasonable accommodation may be made by any person with a disability, their representative, or a
developer or provider of housing for individuals with a disability, and a reasonable accommodation may
be approved only for the benefit of one or more individuals with a disability. Section 20.52.070 ensures
that reasonable accommodation requests are processed efficiently without imposing costs on the
applicant. The City does not assess a fee for reasonable accommodation requests. Although a public
hearing is required, the matter is heard before a Hearing Officer rather than the Planning Commission,
which helps establish an apolitical and more objective decision -making authority, and results in a more
expedited processing. Once an applicant requests reasonable accommodation via all appropriate forms
and submittals (as outline in Section 20.25.070 of the Newport Beach Municipal Code), the following
actions may be taken by the Hearing Office:
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-33
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
• The Hearing Officer shall issue a written determination to approve, conditionally approve, or deny
a request for reasonable accommodation, and the associated modification or revocation.
• The reasonable accommodation request shall be heard with, and subject to, the notice, review,
approval, call for review, and appeal procedures identified for any other discretionary permit.
• On review the Council may sustain, reverse, or modify the decision of the Hearing Officer or
remand the matter for further consideration, which remand shall include specific issues to be
considered or a direction for a de novo hearing.
The written decision to approve or deny a request for reasonable accommodation must be consistent
with all the applicable Federal and State laws and is be based on consideration of the following findings,
all of which are required for approval:
• The reasonable accommodation request is made by or on the behalf of one or more individuals
with a disability protected under the Fair Housing Laws.
• The reasonable accommodation request is necessary to provide one or more individuals with a
disability an equal opportunity to use and enjoy a dwelling.
• The reasonable accommodation request will not impose an undue financial or administrative
burden on the City as "undue financial or administrative burden" is defined in Fair Housing Laws
and interpretive case law.
• The reasonable accommodation request will not result in a fundamental alteration in the nature
of a City program, as "fundamental alteration" is defined in Fair Housing Laws and interpretive
case law; and
• The reasonable accommodation request will not, under the specific facts of the case, result in a
direct threat to the health or safety of other individuals or substantial physical damage to the
property of others.
In considering a request for reasonable accommodation, the hearing officer may consider a variety of
factors; factors for consideration by the hearing officer are listed (but limited to) in Section 20.52.070 of
the Newport Beach Municipal Code. Reasonable accommodation generates practical opportunity and
increased feasibility for the creation of accessible housing and the Newport Beach's City process is not
considered a constraint to the development of housing for all persons.
Definition c -v Famii
A restrictive definition of "family" that limits the number of unrelated persons and differentiates between
related and unrelated individuals living together is inconsistent with the right of privacy established by
the California Constitution. The City's Municipal Code defines "family" as one or more persons living
together as a single housekeeping unit in a dwelling unit. The Code also defines a single housekeeping unit
as the functional equivalent of a traditional family, whose members are an interactive group of persons
jointly occupying a single dwelling unit, including the joint use of and responsibility for common areas,
and sharing household activities and responsibilities (e.g., meals, chores, household maintenance,
expenses, etc.) and where, if the unit is rented, all adult residents have chosen to jointly occupy the entire
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-34
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
premises of the dwelling unit, under a single written lease with joint use and responsibility for the
premises, and the makeup of the household occupying the unit is determined by the residents of the unit
rather than the landlord or property manager. The City's definition of family does not limit the number of
unrelated persons living together, however the definition for single housekeeping unit, as it relates to
family, may require an update by the City as it considers a unit the equivalent to a traditional family.
Development Fees
Residential developers are subject to a variety of permitting, development, and impact fees in order to
access services and facilities as allowed by State law. The additional cost to develop, maintain, and
improve housing due to development fees result in increased housing unit cost, and therefore is generally
considered a constraint to housing development. However, fees are necessary to provide planning and
public services in Newport Beach.
The location of projects and housing type result in varying degrees of development fees. The presumed
total cost of development is also contingent on the project meeting city policies and regulations and the
circumstances involved in a particular development project application. Table 3-10 provides the planning
and land use fees assessed by City of Newport Beach and Table 3-11 provides the engineering and
development services fees required for development projects. All fees are available on the City's website
in compliance with (GC 65940.1(a)(1)(A)).
Estimated total development and impact fees for a typical single -unit residential project, assuming it is
not part of a subdivision and is consistent with existing city policies and regulations can range from
$63,304 to $68,304. Estimated total development and Impact fees for a typical multi -unit residential
project with ten units, assuming it is consistent with existing City policies and regulations range from
$429,600 to $434,600.
These estimates are illustrative in nature and that actual costs are contingent upon unique circumstance
inherent in individual development project applications. Considering the high cost of land in Newport, and
the International Code Council (ICC) estimates for cost of labor and materials, the combined costs of
permits and fees range from approximately 12.5 percent to 13.5 percent of the direct cost of development
for a single -unit residential project and 9.6 percent to 9.3 percent for a multi -unit residential project.
Direct costs do not include, landscaping, connection fees, on/off-site improvements, shell construction or
amenities, therefore the percentage of development and impact fees charged by the City may be smaller
if all direct and indirect costs are included.
Table 3-10: Planning and Land Use Fees
Type
Fee
Deposit
Hourly Rate
Amateur Radio and Satellite Dish Antenna Permit
$1,379
Amendment —General Plan
--
$7,500
$266
Amendment — Local Coast Program
--
$3,300
$266
Amendment — Planned Community
--
$7,500
$266
Amendment —Zoning Code
--
$7,500
$266
Appeals to City Council
$1,715
--
--
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-35
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Type
Fee
Deposit
Hourly Rate
Appeals to Planning Commission
$1,715
--
Approval in Concept Permit
$916
--
--
Certificate of compliance $358 + $12 County
$370
--
-
Coastal Development Permit / Parcel Map Bundle
$3,380
--
-
Coastal Development Permit Waiver / Initial Review
$1,195
--
-
Compliance Letters / Minor Records Research
$390
--
--
Comprehensive / Heritage / Innovative Sign Program
$1,906
--
--
Condominium Conversion Permit
$1,354
--
--
Development Agreement
--
$10,000
$266
Development Agreement Annual Review
$1,397
--
--
Director / Staff Approval
$982
--
--
Extensions of Time (except Abatement Period)
$172
--
--
Environmental Documents
110% of Consultant Cost
--
Heritage Sign Review
--
--
$166
In -Lieu Parking
--
--
$150
Limited Term Permit — Less than 90 Days
$650
--
--
Limited Term Permit — More than 90 Days
$2,235
--
--
Limited Term Permit —Seasonal
$309
--
--
Lot Line Adjustment
$2,316
--
-
Lot Merger
$2,316
--
--
Modification Permit
$3,219
--
-
Nonconforming Abatement Period Extension
$698
--
--
Operator's License —Application
$974
-
--
Operator's License —Appeal
$946
-
Planned Community Development Plan
--
$10,000
$266
Planned Development Permit
$6,386
-
Preliminary Application for Residential Development
$776
-
Public Noticing Costs
$508
Site Development Review — Major
$5,776
--
Site Development Review — Minor
$3,293
--
--
Subdivision Parcel Map
$2,301
--
--
Subdivision Tentative/Vesting Tract Map
$5,685
--
--
Temporary Banner Permit ($50 + $1 Recorded
Management Fee)
$S9
--
--
Transfer of Development Rights
$4,490
--
Use Permit — Conditional
$5,838
--
Use Permit — Minor
$3,292
--
-
Variance
$5,380
--
-
Zoning Plan Check
--
--
$208
Sources: City of Newport Beach Planning Division Fee Schedule (Effective 0710112020 per Council Resolution 2021-21).
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-36
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table 3-11: Engineering and Development Services Fees
Type
Fee
Plan Check Hourly Rate
$261
Plan Review
87% of Building Permit Fee
Repetitive Plan Review
25%of Building Permit Fee
Energy Compliance Review
0.07% of Construction Cost
Disabled Access Compliance Review
0.1% of Construction Cost
Grading Plan Review by City Staff
87% of Grading Permit Fee
Grading Plan Review of Complex Projects by Consultant
133% of Consultant Fee
Determination of Unreasonable Hardship
$357
Electrical Plan Review
87% of Total Permit Fee
Mechanical Plan Review
87% of Total Permit Fee
Plumbing Plan Review
87% of Total Permit Fee
Drainage Plan Review for Alteration to Drainage
$199
Water Quality Management Plan Review (Commercial Projects)
$275
Water Quality Management Inspections (Commercial Projects)
$350
Water Quality Management Plan Review Fee (Residential Projects)
$191
Water Quality Management Inspection Check Fee
(Residential Projects)
$284
Expedite Plan Review
1.75 X regular plan check fees ($453
minimum)
Plan Check Extension
$68
Harbor Construction Plan Review
$329
Waste Management Administration Fee
$27
Sources: City of Newport Beach Schedule of Rents, Fines, and Fees (Effective 0710112021 per City Resolution 2021-21).
Impact r-GGro
Impact fees are assessed on a case -by -case basis depending on the proposed use, location, and density.
Impact fees ensure adequate maintenance and provision of public facilities and services to the project
and include transportation, school, park and open space, waste management, sewage, and water.
Table 3-12 provides the fees calculated based on land use in Newport Beach.
Table 3-12: Development Impact fees
Use
Fee
Transportation (Fair Share)
Single -Unit Development
$2,579/unit
Residential -Medium Density
$2,016 /unit
Apartment
$1,524/unit
Elderly Residential
$938/unit
Mobile Home
$1,407/unit
Nursing/ Convalescent Home
$633/unit
School Impact Fee
N-MUSD Residential Developer Fee
$1.84/sq.ft.(1)
Park Dedication
Park Dedication
$30,217/unit
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-37
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
San Joaquin Transportation Corridor Agency (TCA) — Zone A (Z)
Single Unit
$6,050/unit
Multi -Unit
$3,524/unit
San Joaquin Transportation Corridor Agency (TCA) — Zone B M
Single Unit
$4,689/unit
Multi -Unit
$2,735/unit
Sources: City of Newport Beach Schedule of Rents, Fines, and Fees (Effective 0710112021 per Council Resolution 2021-21).
Newport -Mesa Unified School District Developer Fees
Notes:
(1) Addition under 500 sq.ft. may be exempt
(2) Effective July 1, 2020 — June 30, 2021. The fee rate schedule increases by 2.667% each year on July 15t.
On -/Off -Site Improvements
Site improvements in the City consist of those typically associated with development for on -site
improvements (street frontage improvements, curbs, gutters, sewer/water, and sidewalks), and off -site
improvements caused by project impacts (drainage, parks, traffic, schools, and sewer/water). Thus, these
are costs that may influence the sale or rental price of housing. Because residential development cannot
take place without the addition of adequate infrastructure, site improvement requirements are
considered a regular component of development of housing within the City. Majority of cost associated
with on and off -site improvements is undertaken by the City and recovered in the City's development and
impact fees.
The City's construction codes are based upon the California Code of Regulations, Title 24 that includes the
California Administrative Code, Building Code, Residential Code, Electrical Code, Mechanical Code,
Plumbing Code, Energy Code, Historical Building Code, Fire Code, Existing Building Code, Green Building
Standards Code, and California Referenced Standards Code. They are the minimum necessary to protect
the public health, safety and welfare of the City's residents. In compliance with State law, the California
Building Standards Code is revised and updated every three (3) years. The newest edition of the California
Building Standards Code is the 2019 edition with an effective date of January 1, 2020. The City strives to
provide reasonable accommodation for persons with disabilities in the enforcement of building codes and
the issuance of building permits. The City has not made any building code or code enforcement
amendments in the past 8 years which directly affect or potentially hider the development of housing in
Newport Beach.
Code enforcement is conducted by the City and is based on systematic enforcement in areas of concern
and on a complaint basis throughout the city. The Code Enforcement Division works with property owners
and renters to assist in meeting state health and safety codes. The Code Compliance Department
investigates complaints regarding violations of the Newport Beach Municipal Codes. The following are
frequent enforcement items:
• Hazardous property conditions
• Overgrown vegetation
• Housing Code violations (broken windows, peeling paint)
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-38
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
• Inoperable and abandoned vehicles on private property
• Signs, including signs in public right-of-way and signs without permits
• Solid Waste (early set -out of containers, inadequate containers, illegal dumping)
• Water quality and conservation
• Zoning requirements, (i.e., illegal dwelling units and use requirements)
Local Processing and Permit Procedures
The processing time needed to obtain development permits and required approvals is commonly cited by
the development community as a prime contributor to the high cost of housing. Depending on the
magnitude and complexity of the development proposal, the time that elapses from application submittal
to project approval may vary considerably. Factors that can affect the length of development review on a
proposed project include the completeness of the development application and the responsiveness of
developers to staff comments and requests for information. Approval times are substantially lengthened
for projects that are not exempt from the California Environmental Quality Act (CEQA), require rezoning
or general plan amendments, encounter community opposition, or are appealed to or require approval
from the Coastal Commission. The City strives for a streamlined building permit plan check process,
especially for single- and multi -family residential development. Internal targets for plan check review
times for building permits are 10 business days for the first submittal, 5 business days for the second and
subsequent submittals, if needed. It is worth noting that the timing of the overall process depends more
heavily on the responsiveness of the design team after the first round of review.
For projects requiring a discretionary action, such as a coastal development permit, site development
review, or parcel map, approximately three additional months should be added to processing timelines.
Although rare, if an EIR, Zone Change, General Plan Amendment, or Local Coastal Program Amendment is
required, then approximately eight months should be added to processing timelines.
Applicants for all permits or reviews are recommended to request a pre -application conference with the
respective department to achieve the following:
• Inform the applicant of City requirements as they apply to the proposed project.
• Review the City's review process, possible project alternatives or revisions; and
• Identify information and materials the City will require with the application, and any necessary
technical studies and information relating to the environmental review of the project
All applicable fees related to permits and reviews are established by the City Council and can be found in
the City's Master fee schedule (Tables 3-10 and 3-11). All applications are first reviewed for completeness,
discretionary applications require the respective department to provides a written report and
recommendation, applications are then subject to review by the appropriate authority. Table 3-13 below
identifies the review authority responsible for reviewing and making decisions on each type of application
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-39
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
required by the Newport Beach Zoning Code. Permit review procedures for residential developments in
the City of Newport Beach are outlined below.
Table 3-13: Review Authority for Permit Application
Role of Review Authority'
Applicable Code
Director
Zoning
Hearing
Commission
Z
Council
Type of Action
yp
Chapter/Section
Administrator
Officer
Administrative and Legislative
Interpretations
Section 20.12.020
Determination'
--
--
Appeal
Appeal
Planned
Chapter 20.56
--
--
--
Recommend
Decision
Communities
Specific Plans
Chapter 20.58
--
--
--
Recommend
Decision
Zoning Code
Chapter 20.66
--
--
--
Recommend
Decision
Amendments
Zoning Map
Chapter 20.66
--
--
--
Recommend
Decision
Amendments
Permits and Approvals
Conditional Use
Section 20.52.020
--
--
Decision
Appeal
Permits
Conditional Use
Permits—
Section 20.52.030
--
--
Decision
--
Appeal
Residential Zones
HO
Minor Use Permits
Section 20.52.020
--
Decision 3
--
Appeal
Appeal
Modification
Section 20.52.050
--
Decision
--
Appeal
Appeal
Permits
Planned
Development
Section 20.52.060
--
--
--
Decision
Appeal
Permits
Reasonable
Section 20.52.070
--
--
Decision
--
Appeal
Accommodations
Site Development
Section 20.52.080
--
Decision
--
Decision
Appeal
Reviews
Variances
Section 20.52.090
--
--
--
Decision
Appeal
Zoning Clearances
Section 20.52.100
Determination
--
--
Appeal
Appeal
Notes:
(1) "Recommend" means that the Commission makes a recommendation to the Council; "Determination" and "Decision" mean
that the review authority makes the final determination or decision on the matter; "Appeal" means that the review authority
may consider and decide upon appeals to the decision of a previous decision -making body, in compliance with
Chapter 20.64 (Appeals).
(2) The Council is the final review authority for all applications in the City.
(3) The Director or Zoning Administrator may defer action and refer the request to the Commission for consideration and final
action.
Source: City of Newport Beach Municipal Code, Chapter 20.50 Permit Application Filing and Processing
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-40
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Time Between Receiving Approval and Submitting Building Permit
Application
The amount of time between when a project receives approval and submittal of an application for building
permits varies, depending upon a variety of factors and is controlled by a project applicant. While the City
makes every effort to streamline permitting processes, this element of time is outside the control of the
City. Factors for variability of time may include the size of a project, type of construction, funding and
financing considerations, lease or contract considerations, litigation, seasonal factors, engineering, design
and architectural considerations. The timeline can be a matter of a few days to a few weeks, if the project
is small and uncomplicated (e.g. ADU/JADU) to months for large-scale, modern construction. The City of
Newport Beach views the longer time period is common and necessary for larger, more complicated
projects and does not see this in any way as hindering the construction of housing or introducing
unnecessary delays. In most all cases, the timeline from receiving approval to submitting for building
permits is solely dictated by the project applicant and not constrained by any requirements placed upon
the applicant by the City.
'�nnn/ifinn�l //cn Dnrrs�i*c in Dncir/nnfi�l 7nniniv
The purpose and intent of conditional use permits in residential zoning districts, as identified by the
Newport Beach Municipal Code Section 20.52.030, is to promote the public health, safety, and welfare
and to implement the goals and policies of the General Plan by ensuring that conditional uses in residential
neighborhoods do not change the character of the neighborhoods as primarily residential communities.
As well as, to protect and implement the recovery and residential integration of the disabled, including
those receiving treatment and counseling in connection with dependency recovery. In doing so, the City
seeks to avoid the over -concentration of residential care facilities so that these facilities are reasonably
dispersed throughout the community and are not congregated or over -concentrated in any particular area
to institutionalize that area.
A conditional use permit is required to authorize uses not previously permitted as allowable in the
applicable residential zoning district or in an area where residential uses are provided for in Planned
Community Districts or specific plan districts. An application for a conditional use permit, meeting all the
requirements outline in Section 20.52.030(D), is then reviewed by the Director to ensure that the proposal
complies with all applicable requirements. Additionally, all conditional use permit applications require a
public hearing and a public notice of the hearing. The review authority identified in Table 3-13 above is
designated to approve, conditionally approve, or deny applications for conditional use permits in
residential zoning districts.
Newport Beach Municipal Code Section 20.52.030 (H)(4) establishes the provisions for granting a
conditional use permit in residential zones, including for residential care facilities, and states the
following:
4. The use will be compatible with the character of the surrounding neighborhood, and the addition or
continued maintenance of the use will not contribute to changing the residential character of the
neighborhood (e.g., creating an over -concentration of residential care or bed and breakfast uses in the
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-41
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
vicinity of the proposed use). In making this finding or sustaining the finding, the Hearing Officer and/or
Council shall consider, as appropriate, all of the following factors:
a. The proximity of the use location to parks, schools, other conditionally permitted uses of
the some or similar type, outlets for alcoholic beverages, and any other uses that could be
affected by or affect the operation of the subject use;
b. The existence of substandard physical characteristics of the area in which the use is located
(e.g., limited available parking, lot widths, narrow streets, setbacks, short blocks), and other
substandard characteristics that are pervasive in certain areas of the City of Newport Beach,
including portions of Balboa Island, Balboa Peninsula, Corona Del Mar, Lido Isle, Newport
Heights, and West Newport, which portions were depicted on a map referred to as the
Nonstandard Subdivision Area presented to the Commission on September 20, 2007, and on
file with the Director; and
c. In the case of residential care uses, whether, in light of the factors applied in subsections
(H)(4)(o) and (b) of this section, it would be appropriate to apply the American Planning
Association standard of allowing only one or two residential care uses in each block.
i. Median block lengths in different areas of Newport Beach widely range from three
hundred (300) feet in the nonstandard subdivision areas to as much as one thousand four
hundred twenty-two (1,422) feet in standard subdivision areas.
ii. The average calculable block length in much of the standard subdivision areas is
seven hundred eleven (711) feet and the calculable median block length is six hundred
seventeen (617) feet.
iii. The review authority shall apply the American Planning Association standard in all
areas of Newport Beach in a manner that eliminates the differences in block lengths.
iv. In making this determination, the review authority shall be guided by average or
median block lengths in standard subdivisions of the City.
v. The review authority shall retain the discretion to apply any degree of separation of
uses that the Hearing Officer deems appropriate in any given case.
vi. A copy of the American Planning Association standard is on file with the Director.
The above provisions pertain to the physical aspects of the site, or the utilization of the sites and not the
user or the resident type. Additionally, the provisions generally define "character" as the physical feature
of a site and its environs. Provisions (a) through (c) above, are objective standards that apply to the site
conditions and are generally not considered subjective in nature. Because these standards do not directly
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-42
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
or tacitly deny a residential use based on subjective criteria and "community character" is used to define
the provisions in 20.52.030 (H)(4)(a) through (c), the City contends that these provisions are reasonable
criteria to include in a conditional use permit approval and, therefore, does not consider these provisions
a constraint.
To promote certainty in meeting the scope of the conditional use permit review, provide upfront
feedback, and to expedite processing, the City offers, free -of -charge, Development Review Committee
(DRC) meetings with prospective applicants. DRC meetings are informal meetings with representatives of
the various City departments or divisions (i.e., Planning, Building, Public Works, Fire, etc.) that are held
weekly and are scheduled with only one week lead time. A prospective applicant receives detailed
feedback on their proposal so they can address issues early to provide a more complete submission
thereby avoiding unnecessary delays.
As described in more detail in the Reasonable Accommodation Section of the Housing Element, in the
event that conditional use permit process proves to be a barrier or constraint to the development of
housing for disabled, Section 20.52.070 of the Zoning Code provides procedures for obtaining reasonable
accommodation from the permitting requirements. With a reasonable accommodation, a group of
disabled individuals can reside in any district zoned for residential use without the need for a conditional
use permit, but rather an alternative, no -cost, and objective reasonable accommodation process.
While not explicitly required by State law, the conditional use permit requirement for residential care
facilities for 7 or more persons could be considered a fair housing issue and a potential constraint due to
the discretionary nature of the process. The Development Review Committee process helps mitigate
approval uncertainty and the reasonable accommodation process provides an alternative and more
objective review process for disabled individuals, Policy Action 3P has been included in the Section 4 Policy
Program requiring that development standards for larger residential care facilities in the Municipal Code
will be evaluated to ensure State fair housing laws are met for residential care facilities of 7 or more
persons, and amended to promote objectivity and ensure greater approval certainty.
'ifn noun►nmmonf /?1Q1/i1Q1AM
The City of Newport Beach identifies the purpose of site development reviews as providing a process for
the review of specific development projects in order to:
• Ensure consistency with General Plan policies related to the preservation of established
community character, and expectations for high quality development.
• Respect the physical and environmental characteristics of the site.
• Ensure safe and convenient access and circulation for pedestrians and vehicles.
• Allow for and encourage individual identity for specific uses and structures.
• Encourage the maintenance of a distinct neighborhood and/or community identity.
• Minimize or eliminate negative or undesirable visual impacts.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-43
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
• Ensure protection of significant views from public right(s)-of-way in compliance with Section
20.30.100 (Public View Protection); and
• Allow for different levels of review depending on the significance of the development project.
Site development review is required before the issuance of a building or grading permit for any new
structure. Structures that do not require a site development review (but instead require a zoning
clearance) include, accessory structures, fences and/or walls, reconstruction or exterior remodeling of
existing structures, one to four dwelling units, without a tentative or parcel map, and non-residential up
to a maximum of 9,999 square feet of gross floor area. Site development review and approval is
determined by either the Zoning Administrator or the Planning Commission. The City provides the DRC
review process for site development reviews as described in the previous section. Table 3-14 below
identifies the applicable review authority for different development types.
Table 3-14: Review Authority and Action for Residential Construction
Role of Review Authority (1) (2)
Type of Construction Activity
Zoning Administrator
Planning Commission
(Minor Review)
(Major Review)
Residential construction: 5 to 20 dwelling units, without a
Decision
Appeal
tentative or parcel map.
Residential construction: 5 or more dwelling units with a tentative
or parcel map and 21 or more dwelling units, without a tentative or
--
Decision
parcel map.
Residential construction: On a bluff, an increase in the boundaries
of a development area in compliance with the findings in
--
Decision
Section 128.0 (Bluff (B) Overlay District).
Mixed -use projects: 1 to 4 dwelling units and nonresidential
construction of up to a maximum of 9,999 square feet of gross
Decision
Appeal
floor area.
Mixed -use projects: 5 or more dwelling units and/or nonresidential
construction of 10,000 square feet or more of gross floor area.
--
Decision
Source: City of Newport Beach Municipal Code
A site development review is initiated when the Department receives a complete application package
including the required information and materials specified by the Director and any additional information
required by the applicable review authority in order to conduct a thorough review of the project. Upon
receipt of a complete application the applicable review authority shall conduct a review of the location,
design, site plan configuration, and effect of the proposed project on adjacent properties by comparing
the project plans to established development standards and adopted criteria and policies applicable to
the use or structure. All site development reviews require a public hearing and a notice of the hearing.
The review authority may approve or conditionally approve a site development review application. The
following criteria shall be considered during the review of a site development review application:
• Compliance with this section, the General Plan, this Zoning Code, any applicable specific plan, and
other applicable criteria and policies related to the use or structure.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-44
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
• The efficient arrangement of structures on the site and the harmonious relationship of the
structures to one another and to other adjacent developments; and whether the relationship is
based on standards of good design.
• The compatibility in terms of bulk, scale, and aesthetic treatment of structures on the site and
adjacent developments and public areas.
• The adequacy, efficiency, and safety of pedestrian and vehicular access, including drive aisles,
driveways, and parking and loading spaces.
• The adequacy and efficiency of landscaping and open space areas and the use of water efficient
plant and irrigation materials; and
• The protection of significant views from public right(s)-of-way and compliance with Section
20.30.100 (Public View Protection).
Section 4: Housing Plan establishes Policy Action 3A to establish objective design standards for the City.
Specifically, Policy Action 3A states —The City of Newport Beach will review existing entitlement processes
for housing development and will eliminate discretionary review for all housing development proposals
that include a minimum affordable housing component. The City will also review the appropriateness of
its current development standards to ensure that it reasonably accommodates the type and density of
housing it is intended to support. The City will also amend existing development standards to replace or
remove all subjective standards for projects with a minimum affordable housing component with
objective standards that do not impede the type and density of housing it is intended to allow. The
objective development standards are to be adopted within 24 months of the Housing Element adoption.
Zoning Clearances
A Zoning clearance is the procedure used by the City to verify that a proposed use or structure complies
with the activities allowed in the applicable zoning district and the development standards and other
provisions of the City's Zoning Code. A zoning clearance is required as a prerequisite to establishing a
structure or use for the following:
• Before the initiation or commencement of any use of land not requiring the construction of a
structure.
• Whenever a use is proposed to be changed, whether or not the new use involves a new lessee,
operator, or owner, a zoning clearance shall be obtained.
• Before the City issues a new or modified building permit, grading permit, or other construction -
related permit required for the alteration, construction, modification, moving, or reconstruction
of any structure.
The Department may issue the zoning clearance after first determining that the request complies with all
Zoning Code provisions and other adopted criteria and policies applicable to the proposed use or
structure. An approval may be in the form of a stamp, signature, or other official notation on approved
plans, a letter to the applicant, or other certification, at the discretion of the Director. Review authority
for Zoning Clearances is stated in Table 3-13 above.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-45
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT At `
'enate Bill 3F
California Senate Bill 35 (SB 35), codified as Government Code Section 65913.41, was signed on September
29, 2017 and became effective January 1, 2018. SB 35 will automatically sunset on January 1, 2026 (Section
65913.4(m)). The intent of SB 35 is to expedite and facilitate construction of affordable housing. SB 35
applies to cities and counties that have not made sufficient progress toward meeting their affordable
housing goals for above moderate- and lower -income levels as mandated by the State. In an effort to
meet the affordable housing goals, SB 35 requires cities and counties to streamline the review and
approval of certain qualifying affordable housing projects through a ministerial process.
When a jurisdiction has made insufficient progress toward their Above Moderate -income RHNA and/or
has not submitted the latest Housing Element Annual Progress Report (2018) it is subject to the
streamlined ministerial approval process (SB 35 (Chapter 366, Statutes of 2017) streamlining) for
proposed developments with at least 50 percent affordability. All projects, which propose at least
50 percent affordable units within Newport Beach are eligible for ministerial approval under SB 35 as
determined by the SB 35 Statewide Determination Summary. To be eligible for SB 35 approval, sites must
meet a long list of criteria, including:
• A multifamily housing development (at least two residential units) in an urbanized area;
• Located where 75% of the perimeter of the site is developed;
• Zoned or designated by the general plan for residential or mixed use residential;
• In a location where the locality's share of regional housing needs has not been satisfied by building
permits previously issued;
• One that includes affordable housing in accordance with SB 35 requirements;
• Consistent with the local government's objective zoning and design review standards; and
• Willing to pay construction workers the state -determined "prevailing wage."
A project does not qualify for SB 35 streamline processing if in:
• A coastal zone, conservation lands, or habitat for protected species;
• Prime farmland or farmland of statewide importance;
• Wetlands or lands under conservation easement;
• A very high fire hazard severity zone;
• Hazardous waste site;
• Earthquake fault zone;
• Flood plain or floodway;
• A site with existing multi -family housing that has been occupied by tenants in the last ten years
or is subject to rent control; or
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-46
(September 2022 Final Housing Element)
City of Newport Beach T
2021-2029 HOUSING ELEMENT At
• A site with existing affordable housing.'
9 Infrastructure Constraints
Another factor that could constrain new residential construction is the requirement and cost to provide
adequate infrastructure (major and local streets; water and sewer lines; and street lighting) needed to
serve new residential development. In most cases, where new infrastructure is required, it is funded by
the developer and then dedicated to the City, which is then responsible for its maintenance. The cost of
these facilities is generally borne by developers, which increases the cost of new construction, with much
of that increased cost often "passed on" in as part of home rental or sales rates.
The Utilities Department oversees, manages, and maintains the City's:
• Water • Street sweeping
• Wastewater (sewer) • Streetlights
• Storm drain and tidal valve system • Oil and gas operations
The City has water, sewer and dry utilities that exist or are planned to accommodate residential
development in the community. As the City is essentially built out, the infrastructure in place is designed
and located to accommodate potential for additional housing identified for the 6th Cycle Housing
Element.
Dry Utilities
Dry utilities are the installation of the electric, telephone, TV, internet, and gas in a community. Of the
utilities, the City must plan to provide the necessary resources, such as electric and gas, to increased
households from 2021-2029, as projected by the RHNA allocation.
Electricity
Southern California Edison (SCE) is the electrical service provider for the City of Newport Beach. SCE is
regulated by the California Public Utilities Commission (CPUC) and the Federal Energy Regulatory
Commission (FERC) and includes 50,000 square miles of SCE service area across Central, Coastal, and
Southern California. The SCE reliability report identifies the reliability of electricity services to the City and
identifies any dependability issues that exist in the City. There are 52 circuits that serve the City of
Newport Beach, in total the 52 circuits serve 77,199 customers. SCE measure reliability by three
categories:
• System Average Interruption Duration Index (SAIDI) — total minutes every SCE customer was
without power due to sustained power outage (outage > 5 minutes) divided by total number of
customers
• System Average Interruption Frequency Duration Index (SAIFI) — Number of sustained customer
outages experienced by all SCE customers divided by total number of customers
1 JD Supra Knowledge Center, "How California's SB 35 Can Be Used to Streamline Real Estate Development Projects", Accessed March 26, 2021.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-47
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
• Customer Average Interruption Duration Index (MAIFI) — System average interruption duration
index divided by system average interruption frequency index
Overall, the City of Newport Beach experience relatively low interruptions compared to the overall service
provided to all SCE customers, displayed in Figure 3-1.
Figure 3-1: Reliability History of Circuits Serving Newport Beach (No Exclusions)
2016 2017 2018 2019
200.0
150.0 134.5 139.7
SAIDI 118.4 1152
(average 100.0
minutes of
sustained
interruptions) 50.0
SAIR
(average
frequency of
sustained
interruptions)
MAIFI
{average
frequency of
momentary
interruptions)
0.0
1.4
1.2
1.0
0A
0.6
0.4
o.2
0.0
2.0
1.5
1.0
0.5
0.0
Source: Southern California Edison, Reliability Reports, Newport Beach 2020
■ Newport Reach
■SCE SYSTEMWIDE
—Exclusions' are days which
utilities are allowed to
remove from their metrics
because the outages on
those days were caused by
acts of nature.
"Data is as of 0211412020, data
can be slightly different due to
outage data validation process
SCE will continue to provide adequate services to the City of Newport Beach including increased
household growth as projected by the City's RHNA allocation.
Southern California Gas Company provides natural gas services to the City of Newport Beach. SoCal Gas
is a gas -only utility and, in addition to serving the residential, commercial, and industrial markets, provides
gas for enhanced oil recovery (EOR) and EG customers in Southern California. The SoCal Gas 2020 utility
report projects total gas demand to decline at an annual rate of 1 percent from 2020-2035. From
2020-2035, residential demand is expected to decline from 230 Bcf to 198 Bcf. The decline is
approximately 1 percent per year, on average. The decline is due to declining use per meter —primarily
driven by very aggressive energy efficiency goals and associated programs— offsetting new meter
growth.'
z SoCal Gas 2020 California Gas report, Prepared in Compliance with California Public Utilities Commission Decision D .95-01-039
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-48
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
SoCalGas engages in several energy efficiency and conservation programs designed to help customers
identify and implement ways to benefit environmentally and financially from energy efficiency
investments. Programs administered by SoCalGas include services that help customers evaluate their
energy efficiency options and adopt recommended solutions, as well as simple equipment -retrofit
improvements, such as rebates for new hot water heaters. Additionally, the City of Newport Beach
employs programs for energy and utility conservation, outline below in Section 3: Housing Resources,
Opportunities for Energy Conservation.
Water Supply
The City of Newport Beach Utilities Department currently serves a population of over 86,000 within a
service area of approximately fifty square miles. The Department is responsible for providing a safe and
reliable source of water to approximately 26,200 active connections and delivering approximately
13,500-acre feet (AF) of water per year on average.3 The City's distribution system consists of
approximately 300 miles of distribution pipelines and is divided into five main pressure zones: Zone 1
through Zone 5 with 16 minor zones. Zones 1 and 2 are the largest and cover most of the system demands.
Zones 3, 4 and 5 are smaller pumped zones. The system infrastructure consists of four wells, three storage
reservoirs, five pump stations and 43 pressure reducing stations (PRS) that manage pressure across the
system.'
The City of Newport Beach water division is separated into four sections: water maintenance and repair,
water production, water quality, and water system services, each department's duties are outlined below.
Together the division is responsible for providing a safe and reliable source of water.
Newport Beach Water Source
The City receives its water from several sources, local groundwater from the Lower Santa Ana River
Groundwater Basin, imported water purchased from the Municipal Water District of Orange County
(MWDOC), and recycled water purchased from Orange County Water District (OCWD). Most of the City's
water supply is groundwater, pumped from four wells within the City of Fountain Valley. Imported water
is treated at the Diemer Filtration Plant operated by the Metropolitan Water District of Southern California
(Metropolitan). The City is not capable of treating water to produce reclaimed water but purchases water
from OCWD through the Green Acres Project. 5
Water Maintenance ana Kepair
Water Maintenance & Repair is responsible for the maintenance and operation of the City's water mains
and valves that are located underground.
Wat— ornductinn
Water Production operates, maintains, and disinfects the City of Newport Beach's water supply. The
division operates two well sites which produce groundwater from the Orange County Basin as well as
three water reservoirs to receive, store and distribute the City's water. Other water facilities that assist in
the distribution and treatment process include: five water pump stations, five Metropolitan Water District
s City of Newport Beach, Water rate Study, 2019
° City of Newport Beach, Water Master Plan, 2019
s City of Newport Beach, Urban Water Management Plan (2015)
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-49
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
^�t a' ,
Sit
interconnections, and 42 water pressure regulating stations. Water Production also manages SCADA
(Supervisory Control and Data Acquisition) which monitors and controls the pumps in the City's water
wastewater and gas systems.
Big Canyon Reservoirs
Located at 3300 Pacific View Drive in Corona Del Mar. The Big Canyon Reservoir is the largest City owned
reservoir with a capacity of 600-acre foot or 195 million gallons. Built in 1958 this reservoir was the
primary water supply for Newport for many years. Although the reservoir does have the ability to supply
water to the entire service area the reservoir is primarily used as a storage reservoir and supply to the
City's higher -pressure zones.
Spyglass Hill Reservoir
Located under the Spyglass Reservoir park at the end of Muir Beach Circle in Spyglass is the 1.5-million-
gallon concrete reservoir. Built in the 1970s to supply the surrounding community this 101-foot diameter
and 27-foot-deep reservoir is under the playground park. Large concrete support columns and thick
concrete roof and walls support this reservoir.
16th Street Reservoir
Located at the Utilities Yard at 949 West 16th Street in Newport Beach the newest of our reservoirs is a
3-million-gallon underground concrete reservoir. Built in 1996 as part of the City's ground water project,
this reservoir receives well waterfrom our four City owned wells in Fountain Valley. This reservoir supplies
water to the 16th Street pump station that can pump up to 12,000 gallons per minute into our distribution
system. Excess water not used in the system is stored in the Big Canyon Reservoir in Corona Del Mar.
Water Qualit-
The City of Newport Beach Utilities Department is responsible for providing residents with a reliable, safe,
clean, potable, and domestic water supply. Newport Beach's drinking water is safe for drinking. It meets
or exceeds all Federal and California water quality standards, which are the most stringent standards of
any state in the nation. The City's staff continuously monitors the City's water supply and conducts more
than 1,500 tests each year on potable water drawn from different sampling points along our distribution
system.
Water System Services
Water System Services assists City of Newport Beach customers with any questions regarding water
quality, water pressure, consumption usage, any concern with water meters, leak detection, utilities
inspections and underground utility locating. The City's Water Systems Services webpage provides tips
and information for proper water systems care for property owners as well as additional resources.
Wastewater
Wastewater is responsible for the collection of residential and commercial wastewater. This Division has
three sub -sections: Pump Station Operation, Cleaning Operation and Construction Operation. These three
sub -sections provide service relating to pump station repair and maintenance, sewer main, lateral and
manhole cleaning, sewer blockage and odor, and sewer main and lateral breaks and repairs.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-50
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
The City's Wastewater department is responsible for 203 miles of sewer pipe, 120 miles of sewer laterals,
approximately 5,000 manholes, 21 pump stations, and five miles of force mains. The City's 2019 Sewer
System Management Plan states the department's main goals to include the following:
• Maintain uninterrupted sewage flow without health hazard, effluent leakage, or water infiltration
and inflow.
• Operate a sanitary sewer system that meets all regulatory requirements.
• Avoid sanitary sewer overflows and respond to sanitary sewer overflows quickly and mitigate any
impact of the overflow.
• Maintain standards and specifications for the installation of new wastewater systems.
• Verify the wastewater collection system has adequate capacity to convey sewage during peak
flows.
• Provide training for Wastewater Collection staff.
• Maintain the Fats, Oil, and Grease program (FOG program) to limit fats, oils, grease, and other
debris that may cause blockages in the wastewater collection system.
• Identify and prioritize structural deficiencies and implement short-term and long-term
maintenance and rehabilitation actions to address each deficiency.
• Meet all applicable regulatory notification and reporting requirements.
• Provide excellent customer service through efficient system operation and effective
communication strategies.
Sewer
The Orange County Sanitation District (OCSD)provides sanitation services to the City of Newport Beach.
In 2013, the sanitation district began a construction program to rehabilitate the OCSD's regional sewers
in the City. The program ran through 2018 and consisted of five construction projects, including:
• Dover Drive Trunk Sewer Relief (5-63): The Dover Drive Trunk sewer runs between Irvine Blvd.
and Coast Highway and is in poor condition. The existing sewer pipeline also does not have
efficient hydraulic capacity to handle the wastewater flow and must therefore be replaced with a
larger pipeline. OCSD will also relocate a city waterline to reduce the level of impact for the
community by eliminating the need for a secondary project in the area.
• Balboa Trunk Sewer Rehabilitation (5-47): This project will rehabilitate the existing Balboa Trunk
sewer along Newport Blvd. and Balboa Blvd. between A Street and Finley Ave. (See map: between
A Street Pump Station and Lido Pump Station.) The project includes installation of a new
protective lining in approximately 12,600 feet of sewer pipeline.
• Newport Force Main Rehabilitation (5-60): The Newport Force Main is a critical component of
our sewer system and needs to be rehabilitated. It carries the wastewater flow from various pump
stations to our treatment plant in Huntington Beach. The pipelines are located on Coast Highway
stretching past Dover Dr. to the Bitter Point Pump Station, approximately 1/4 mile north of
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-51
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Superior Ave., which is a heavily traveled thoroughfare. There are two sewer lines, one on the
north side of Coast Highway and one on the south side which make the rehabilitation more
complex.
• District 6 Trunk Sewer Relief (6-17): The District 6 Trunk sewer runs from Pomona Ave. in the City
of Costa Mesa to Newport Blvd. near Coast Highway in the City of Newport Beach. This project
will increase the capacity of the existing sewer pipeline to reduce the potential for sewer spills
and to properly handle flows.
• Southwest Costa Mesa Trunk (6-19): In an effort to improve efficiency in our service area, this
project is looking into the design and construction of a new gravity trunk sewer. This project may
lead to the abandonment of eight Costa Mesa and Newport Beach pump stations to provide more
reliable service to the community
The infrastructure improvements initiated by OCSD from 2013 to 2018 increased overall capacity and
efficiency in the Newport Beach sewer system. The City can accommodate the increase in households as
projected by the City's RHNA allocation.
Water uemana
In fiscal year 2014-15, the City's total water demand was approximately 16,033 acre-feet. The City's
potable demand was met through 11,200 acre-feet of groundwater and 4,338 acre-feet of imported
water; the remaining non -potable demand was met through recycled water. The City is projecting over
five percent increase in total potable and non -potable demand in the next 25 years accompanied by a
projected 13 percent population growth.6
The 2015 UWMP found that Metropolitan is able to meet full service demands of its member agencies
with existing supplies out to 2040 during a normal, single -dry, and multiple -dry year scenario. Additionally,
the 2019 Water Master Plan found that though population continues to increase over the past ten years,
total water demand has decreased. The 10-year average annual demand for 2007-2016 (15,991 AF) is
14 percent less than the 1986-1996 average annual demand (18,626 AF). The City's water infrastructure
and service provider is capable of meeting the water demands of its customers under the same
hydrological conditions out to 2040, this includes all household growth estimated by the City's RHNA
allocation.
Fire and Emergency Services
The City of Newport Beach's Fire Department aims to Protect life, property, and the environment with
innovative professionalism and organizational effectiveness using highly trained professionals committed
to unparalleled service excellence. The department has 144 full-time employees and over 200
part-time/seasonal employees provide 24-hour protection and response to the community's residents,
businesses, and visitors.
5 City of Newport Beach, Urban Water Management Plan (2015)
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-52
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
The department's primary goals are identified as follows:
`+ •.st
!��
• Identify and reduce fire and environmental hazards that may threaten life and property.
• Provide a safe, effective, and expeditious response to requests for assistance.
• Develop an adequately trained workforce to effectively perform their duties.
• Participate in the community development planning process to improve fire and life safety.
• Encourage department personnel to assume leadership roles in the organization.
• Plan for response to natural and man-made disasters that affect the community.
• Educate and train employees and the community to assist them in maintaining a safe
environment.
The department's different divisions and respective duties are outlined below.
Fire Operations Division
The Fire Operations Division is the largest of four divisions within the Newport Beach Fire Department.
The primary responsibilities of its personnel are life safety, incident stabilization, and the preservation of
property and the environment. The Newport Beach Fire Department operates as an "all risk" emergency
responsible organization responding to the following:
• Fires
• Pre -hospital Medical Emergencies
• Technical Rescues
• Traffic Accidents
• Vehicle Extrications
• Major Flooding
• Beach Rescues
• High Rise Incidents
• Wildland Fires
• Disaster Operations
• Hazardous Materials Incidents
The Fire Department staffs eight fire stations 24/7. The stations are strategically located throughout the
city to provide the quickest and most effective response to the area served, with an average response
time of five minutes. Considering the department's expansive and well-connected nature, as well as the
compactness of the City of Newport, additional housing or new developments would not pose a burden
on the existing Fire Department's fire operations. Therefore, fire operations are not considered a
constraint to the development of housing for all income levels.
The City requires Development Agreements for certain development types within the Airport area to
ensure adequate safety services and ambulance units. Development Agreements include additional fees
for safety service operations in the airport area due to current lack of ambulance units. The imposition of
additional fees may pose a constraint to the development of housing, and particularly affordable housing.
This may result in greater development fees which may subsequently influence the final rental cost of
units or home value.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-53
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Emergency Medical Services
The goal of the Emergency Medical Services (EMS) Division is to deliver the highest quality of medical care
to members of the community, regardless of their ability to pay. In total, the City has eight fire stations
that are strategically located to provide the best services the community. Each day there are eight fire
engines, two fire trucks and the three paramedic ambulances in service. The average response time is four
minutes and 22 seconds. The system's design accounts for fewer paramedic ambulances and expects a
nearby fire engine or truck company to arrive on scene first to initiate basic medical care, which at times
can include lifesaving cardio-pulmonary resuscitation or delivering rapid electrical shocks using
automated external defibrillators (AEDs), prior to the arrival of the paramedic team.
Lifnfvtsn rl t1nnrnfinnc mlicinr
The City of Newport Beach's Lifeguard Division protects up to 10 million beach visitors on
Newport Beach's 6.2 miles of ocean and 2.5 miles of bay beaches, with preventative actions and medical
assistance. Every day of the year, lifeguards ensure safety and provide customer service to the visitors on
the beach, boardwalk, piers, and in the ocean.
Police Services
The City of Newport Beach's Police Department intends to:
• Respond positively to the Community's needs, desires, and values and in so doing be recognized
as an extension and reflection of those we serve.
• Strive to provide a safe and healthy environment for all, free from violence and property loss
resulting from criminal acts, and injuries caused by traffic violators.
• Manage inevitable change and welcome the challenge of future problems with creative solutions,
which are financially prudent and consistent with Community values.
The Department's is headed by Chief of Police Jon T. Lewis, who is the 101" Chief of Police in the
department's history, assuming office on March 22, 2016. The City of Newport Beach's Police Department
handles a wide array of services and permitting, all services are outlined in detail on the City's Police
Department webpage.
3. Environmental Constraints
Newport Beach is bound by the Pacific Ocean to the West and contains many different natural landscapes
within the City's boundaries. Newport Beach has a variety of coastal features ranging from replenished
beach sands in West Newport, to steep bluffs comprised of sandstone and siltstone to the south of Corona
del Mar. The community, as most of California is, sits along some major fault traces. The City is susceptible
to several potential environmental constraints to the development of housing, including geologic hazards,
flood hazards, and fire hazards, all are detailed below.
Coastal Hazards
A goal of the California Coastal Act and the City's adopted Local Coastal Program is to assure the priority
for coastal -dependent and coastal -related development over other development in the Coastal Zone. The
Coastal Act is an umbrella legislation designed to encourage local governments to create Local Coastal
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-54
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Programs (LCPs) to govern decisions that determine the short- and long-term conservation and use of
coastal resources. The City of Newport Beach's LCP is considered the legislative equivalent of the City's
General Plan for areas within the Coastal Zone. Local Coastal Programs are obligated by statute to be
consistent with the policies of the Coastal Act and protect public access and coastal resources. Over
63 percent of Newport Beach is within the Coastal Zone and subject to the oversight by the California
Coastal Commission.
'Pa I AvAI RicA and Zfnrm In►►nrlatinn
Newport Beach is exposed to a variety of coastal hazards including beach erosion, bluff erosion, and
coastal flooding due to sea level rise (SLR) and storm inundation. The City has a significant amount of land
directly adjacent to surface water that is directly affected by sea level rise and storm inundation. The
effects of SLR on coastal processes, such as shoreline erosion, storm -related flooding and bluff erosion,
have been evaluated using a Coastal Storm Modeling System (CoSMoS), a software tool and multi -agency
effort led by the United States Geological Survey (USGS), to make detailed predictions of coastal flooding
and erosion based on existing and future climate scenarios for Southern California. The mapping results
from CoSMoS provide predictions of shoreline erosion (storm and non -storm), coastal flooding during
extreme events, and bluff erosion for the City in community -level coastal planning and decision -making.
A large portion of the City's coastal adjacent land appropriate for development is at risk of tidal flooding.
Land along the coast is vulnerable to shoreline retreat, which is predicted to accelerate with Sea Level
Rise. Long-term shoreline retreat coupled with storm -induced beach erosion has the potential to cause
permanent damage to buildings and infrastructure in these hazard zones. As a result, the City did not
utilize land within the coastal
The Coastal Commission provides direct guidance on how the City of Newport Beach addresses future
land use in consideration of sea level rise. According to the California Coastal Commission Sea Level Rise
Policy Guidance' , local jurisdictions can "Minimize Coastal Hazards through Planning and Development
Standards" through the following measures applicable to Newport Beach:
• Design adaptation strategies according to local conditions and existing development patterns, in
accordance with the Coastal Act.
• Avoid significant coastal hazard risks to new development where feasible.
• Minimize hazard risk to new development over the life of the authorized development.
• Minimize coastal hazard risks and resource impacts when making redevelopment decisions.
• Account for the social and economic needs of the people of the state include environmental
justice, assure priority for coastal -dependent and coastal -related develop over other
development
The Coastal Commission has also prepared a Draft Coastal Adaptation Planning Guidance: Residential
Development (dated March 2018), which will serve as the Coastal Commission's policy guidance on sea
' California Coastal Commission Sea Level Rise Policy Guidance, 2018 Science Update
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-55
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
^�w
level rise adaptation for residential development to help facilitate planning for resilient shorelines while
protecting coastal resources in LCPs
Geologic Hazards
According to the Newport Beach Safety Element, the geologic diversity of Newport Beach is strongly
related to tectonic movement along the San Andreas Fault and its broad zone of subsidiary faults. This,
along with sea level fluctuations related to changes in climate, has resulted in a landscape that is also
diverse in geologic hazards. Geologic hazards are generally defined as surficial earth processes that have
the potential to cause loss or harm to the community or the environment. Specific geologic hazards that
may affect the development of housing in the City are detailed below.
Slope Failures
Slope failures often occur as elements of interrelated natural hazards in which one event triggers a
secondary event such as a storm -induced mudflow. Slope failure can occur on natural and man-made
slopes. The City's remaining natural hillsides and coastal bluff areas are generally vulnerable to slope
failures that include: San Joaquin Hills; and bluffs along Upper Newport Bay, Newport Harbor, and the
Pacific Ocean. Despite the abundance of landslides and new development in the San Joaquin Hills, damage
from slope failures in Newport Beach has been small which may be attributed to the development of strict
hillside grading ordinances, sound project design that avoid severely hazardous areas, soil engineering
practices, and effective agency review of hillside grading projects.
Seismic Hazards
The City of Newport Beach is located in the northern part of the Peninsular Ranges Province, an area that
is exposed to risk from multiple earthquake fault zones. The City of Newport Beach Safety Element
determines that the highest risks originate from the Newport -Inglewood fault zone, the Whittier fault
zone, the San Joaquin Hills fault zone, and the Elysian Park fault zone. Each of the aforementioned zones
have the potential to cause moderate to large earthquakes that would cause ground shaking in Newport
Beach and nearby communities. Earthquake -triggered geologic effects also include surface fault rupture,
landslides, liquefaction, subsidence, and seiches. Specific hazards associated with seismic hazards, which
can potentially be determined as a constraint to development are detailed below.
Liquefaction
Strong ground shaking can result in liquefaction. Liquefaction, a geologic process that causes ground
failure, typically occurs in loose, saturated sediments primarily of sandy composition. According to the
Newport Beach Safety Element, the areas of Newport Beach susceptible to liquefaction and related
ground failure (i.e., seismically induced settlement) include the following areas along the coastline:
• Balboa Peninsula,
• In and around the Newport Bay and Upper Newport Bay,
• in the lower reaches of major streams in Newport Beach, and
• In the floodplain of the Santa Ana River.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-56
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
It is likely that residential or commercial development will never occur in many of the other liquefiable
areas, such as Upper Newport Bay, the Newport Coast beaches, and the bottoms of stream channels.
'Qi,zmir_ally Inritir_Prl S/nn Failure
Strong ground motions can also worsen existing unstable slope conditions, particularly if coupled with
saturated ground conditions. Seismically induced landslides can overrun structures, people or property,
sever utility lines, and block roads, thereby hindering rescue operations after an earthquake. Much of the
area in eastern Newport Beach has been identified as vulnerable to seismically induced slope failure.
Approximately 90 percent of the land from Los Trancos Canyon to State Park boundary is mapped as
susceptible to land sliding by the California Geologic Survey. Additionally, the sedimentary bedrock that
crops out in the San Joaquin Hills is locally highly weathered. In steep areas, strong ground shaking can
cause slides or rockfalls in this material. Rupture along the Newport Inglewood Fault Zone and other faults
in Southern California could reactivate existing landslides and cause new slope failures throughout the
San Joaquin Hills. Slope failures can also be expected to occur along stream banks and coastal bluffs, such
as Big Canyon, around San Joaquin Reservoir, Newport and Upper Newport Bays, and Corona del Mar.
Flood Hazards
The City of Newport Beach and surrounding areas are, like most of Southern California, subject to
unpredictable seasonal rainfall, and every few years the region is subjected to periods of intense and
sustained precipitation that result in flooding. Flooding can be a destructive natural hazard and is a
recurring event. A flood is any relatively high streamflow overtopping the natural or artificial banks in any
reach of a stream. Flood hazards in Newport Beach can be classified into two general categories: flash
flooding from small, natural channels; and more moderate and sustained flooding from the Santa Ana
River and San Diego Creek. The City of Newport Beach's Safety Element Identifies 100-year and 500-year
flood zones in the City. Federal Emergency Management Agency (FEMA) flood zones are geographic areas
that the FEMA has defined according to varying levels of flood risk. Each zone reflects the severity or type
of flooding in the area.' The 100-year flood zone are areas with a one percent annual chance of flooding,
the 500-year flood zones are areas with a 0.2 percent annual chance of flooding.
The 100- and 500-year flood zones include the low-lying areas in West Newport at the base of the bluffs,
the coastal areas which surround Newport Bay and all low-lying areas adjacent to Upper Newport Bay.
100- and 500- year flooding is also anticipated to occur along the lower reaches of Coyote Canyon, in the
lower reaches of San Diego Creek and the Santa Ana Delhi Channel, and in a portion of Buck Gully. The
City also recently worked with FEMA to revise proposed flood hazards maps, in which FEMA removed over
2,700 properties from flood zones. Most flooding along these second- and third -order streams is not
expected to impact significant development. However, flooding in the coastal areas of the City will impact
residential and commercial zones along West Newport, the Balboa Peninsula and Balboa Island and the
seaward side of Pacific Coast Highway.'
With increased development, there is also an increase in impervious surfaces, such as asphalt. Water that
used to be absorbed into the ground becomes runoff to downstream areas. However, various flood
$ FEMA Flood Zone Designations, Natural resources Conservation Service — Field Office Technical Guides
9 City of Newport Beach Safety Element
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-57
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
control measures help mitigate flood damage in the City, including reservoirs in the San Joaquin Hills and
Santa Ana Mountain foothills, and channel alterations for the Santa Ana River. These structures help
regulate flow in the Santa Ana River, San Diego Creek, and smaller streams and hold back some of the
flow during intense rainfall period that could otherwise overwhelm the storm drain system in Newport
Beach.
Fire Hazards
The Newport Beach Safety Element defines a wildland fire hazard area as any geographic area that
contains the type and condition of vegetation, topography, weather, and structure density that potentially
increases the possibility of wildland fires. The eastern portion of the City and portions of the Newport
Beach region and surrounding areas to the north, east, and southeast include grass- and brush -covered
hillsides with significant topographic relief that facilitate the rapid spread of fire, especially if fanned by
coastal breezes or Santa Ana winds.
In those areas identified as susceptible to wildland fire, the Fire Department enforces locally developed
regulations which reduce the amount and continuity of fuel (vegetation) available, firewood storage,
debris clearing, proximity of vegetation to structures and other measures aimed at "Hazard Reduction."
New construction and development are further protected by local amendments to the Uniform Building
Code. These amendments, which are designed to increase the fire resistance of a building, include:
protection of exposed eaves, noncombustible construction of exterior walls, protection of openings, and
the requirement for Class "A" fireproof roofing throughout the City. Additionally, a "Fuel Modification"
plan aimed at reducing fire encroachment into structures from adjacent vegetation must be developed
and maintained.
1. Affirmatively Furthering Fair Housing
All Housing Elements due on or after January 1, 2021 must contain an Assessment of Fair Housing (AFH)
consistent with the core elements of the analysis required by the federal Affirmatively Further
Fair Housing Final Rule of July 16, 2015.
Under State law, affirmatively further fair housing means "taking meaningful actions, in addition to
combatting discrimination, that overcome patterns of segregation and foster inclusive communities free
from barriers that restrict access to opportunity based on protected characteristics. These characteristics
can include, but are not limited to race, religion, sex, marital status, ancestry, national origin, color,
familiar status, or disability.
The Orange County Analysis of Impediments (AI) to Fair Housing Choice for FY 2015-19 was approved by
the City of Newport Beach City Council in October 2016 as one of the fifteen urban county program
participants in partnership with the Fair Housing Council of Orange County. The Draft Regional Analysis of
Impediments (AI) to Fair Housing Choice for FY 2020-25 was made available for public review in 2020. The
Fair Housing Council of Orange County works under the direction of a volunteer board of directors and
staff to fulfill a mission of protecting the quality of life in Orange County by ensuring equal access to
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-58
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
housing opportunities, fostering diversity and preserving dignity and human rights. The agency is a HUD
Approved Housing Counseling Agency and provides one-on-one education, mediation, and counseling for
individuals and families throughout the Orange County region.
The Al identifies impediments that may prevent equal housing access and develops solutions to mitigate
or remove such impediments. Newport Beach's 6th Cycle Housing Element references analysis from the
FY 2020-2025 Al in order to identify potential impediments to housing that are specific to Newport Beach.
The City also completed its FY 2020-24 Consolidated Plan, adopted by City Council on May 12, 2020, as an
entitlement city for Community Development Block Grant (CDBG) funding, which identifies housing
problems within the community, specifically among low and very -low-income households. Fair housing is
identified as a priority within the Consolidated Plan.
2. Summary of Local Data
The Al contains a Countywide analysis of demographic, housing, and specifically fair housing issues for all
the cities in Orange County, including Newport Beach. The City's demographic and income profile,
household and housing characteristics, housing cost and availability, and special needs populations were
discussed in the previous Section 2: Community Profile.
In an ongoing effort to promote and encourage fair housing, the City contracts with the Fair Housing
Foundation (FHF). FHF provides public outreach, educational workshops, and distributes educational
materials related to fair housing. Inquiries regarding fair housing matters are generally referred to the
FHF. As of July 30, 2021, a total of 116 Newport Beach low-income residents relied on Section 8 rental
assistance vouchers. In 2020, the Fair Housing Foundation held virtual fair housing workshops (February
3, 2020, and November 17, 2020), held virtual walk-in clinics (May 13, 2020, May 20, 2020, July 15, 2020,
September 2, 2020, and November 18, 2020), produced a public service announcement for Newport
Beach Television (NBTV), and distributed 2,250 pieces of literature.
Fair Housing issues
Within the legal framework of federal and state laws and based on the guidance provided by the HUD Fair
Housing Planning Guide, impediments to fair housing choice can be defined as:
• Any actions, omissions, or decisions taken because of age, race, color, ancestry, national origin,
age, religion, sex, disability, marital status, familial status, source of income, sexual orientation,
or any other arbitrary factor which restrict housing choices or the availability of housing choices;
or
• Any actions, omissions, or decisions which have the effect of restricting housing choices or the
availability of housing choices on the basis of age, race, color, ancestry, national origin, age,
religion, sex, disability, marital status, familial status, source of income, sexual orientation or any
other arbitrary factor.
Regional Fair Housing Issues
• Availability, Type, Frequency, and Reliability of Public Transportation - The availability, type,
frequency, and reliability of public transportation may be significant local contributing factors to
fair housing issues in Newport Beach. Public transportation in Orange County primarily consists
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-59
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
of bus service operated by the Orange County Transportation Authority (OCTA) and Metrolink
light rail service. However, Metrolink does not provide service to Newport. The lack of public
transportation may deter members of protected classes who do not have cars and are reliant on
public transportation from choosing to live there, thus reinforcing patterns of segregation.
• Impediments to Mobility - Impediments to mobility may be a significant local contributing factor
to fair housing issues in Newport Beach. Specifically, Housing Choice Voucher payment standards
that make it difficult to secure housing in many, disproportionately White areas contribute to
segregation and disparities in access to opportunity. The Orange County Housing Authority, which
provides Section 8 resources to Newport Beach, has three tiers based on city rather than zip code,
but the highest tier - $2,280 for two -bedroom units in selected cities — falls far short of Small Area
Fair Market Rents and leaves some cities targeted for that payment standard out of reach. For
example, in zip code 92660, located in Newport Beach, the Small Area Fair Market Rent for
two -bedroom units would be $3,120. A Zillow search for that zip code revealed advertised
two -bedroom units in only two complexes available for under $2,280 but many more available
between $2,280 and $3,120.
• Location of Accessible Housing - The location of accessible housing may be a significant local
contributing factor to fair housing issues in Newport Beach. With a few exceptions the location of
accessible housing tends to track areas where there are concentrations of publicly supported
housing. In Orange County, publicly supported housing tends to be concentrated in areas that are
disproportionately Hispanic and/or Vietnamese and that have relatively limited access to
educational opportunity and environmental health. While this Is not a predominate issue in
Newport Beach, comments by advocacy groups during the outreach process indicated that the
location and availability of affordable housing throughout the community contributes to
challenges to fair housing opportunity. Multi -unit housing tends to be concentrated in
communities of color, but there are some predominantly White communities that have significant
amounts of market -rate multi -unit housing that may be accessible and affordable to middle -
income and high -income persons with disabilities, including Newport Beach. Overall, permitting
more multi -unit housing and assisting more publicly supported housing in predominantly White
communities with proficient schools would help ensure that persons with disabilities who need
accessibility features in their homes have a full range of neighborhood choices available to them.
Occupancy Codes and Restrictions - Occupancy codes and restrictions may be a significant local
contributing factor to fair housing issues in Newport Beach. Specifically, there is a substantial
recent history of municipal ordinances targeting group homes, in general, and community
residences for people in recovery from alcohol or substance abuse disorders, in particular. In
2015, the City of Newport Beach entered into a $5.25 million settlement of a challenge to its
ordinance, but that settlement did not include injunctive relief calling for a repeal of that
ordinance.10 Although municipalities have an interest in protecting the health and safety of group
home residents, these types of restrictions may be burdensome for ethical, high -quality group
10 41 Hannah Fry, Newport Will Pay Group Homes $5.25 Million Settlement, L.A. TIMES (July 16, 2015), https://www.latimes.com/socal/daily-
pilot/news/tn-dpt-me-0716-newport-group-home-settlement-20150716- story.html.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-60
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
home operators. Occupancy codes and restrictions are not as high priority of a barrier as the
factors that hinder the development of permanent supportive housing, as group homes are
generally less integrated than independent living settings.
Fair Housing Enforcement and Outreach Capacity
Currently, the Fair Housing Foundation provides fair housing services to the City of Newport Beach. This
includes providing fair housing enforcement and landlord/tenant mediation services which are available
for tenants, realtors, apartment owners and managers, lending institutions and other interested parties.
For FY 2020-21, the City of Newport Beach has allocated $12,000 in Community Development Block Grant
(CDBG) funds for the Fair Housing Foundation to perform the following, at no cost:
• Fair housing services such as, responding to discrimination inquiries and complaints,
documenting, and investigating discrimination complaints, and resolving or mediating
discrimination complaints
• A comprehensive, extensive, and viable education and outreach program, including:
o Fair Housing Workshop
o Certificate Management Training
o Walk -In Clinics
o Rental Housing Counseling Workshop
o Community presentations, staff training, and workshops
o Community events, booths, networking, etc.
• Landlord and tenant counseling on responsibilities and rights
• Rental counseling
• Since the City contracts with an outside firm for these services, lack of monitoring and lack of
direct access through City resources may be identified as contributing factors.
The Fair Housing Foundations offers regular walk-in counseling sessions, in addition to resources fairs,
informational workshops (accessible in multiple languages), landlord and tenant workshops, and other
outreach efforts. Additionally, the FHF provided virtual workshops available online to Newport Beach
residents.
From 2015 to 2020, the City provided 408 residents with fair housing services using CDBG funding. As part
of the FY 2020-25 Consolidated Plan for the Newport Beach, the City has set a goal of assisting 625 people
with fair housing issues within the five-year period using $60,000 of CDBG funding. Newport Beach has
also set a goal of retaining a Fair Housing provider to promote fair housing education and outreach within
the community. The U.S. Department of Housing and Urban Development (HUD) maintains a record of all
housing discrimination complaints filed in local jurisdictions. These grievances can be filed on the basis of
race, color, national origin, sex, disability, religion, familial status, and retaliation. As reported by the 2020-
2025 Al, one fair housing case is unresolved (as one 2020) in Newport Beach.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-61
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Housing Element 2021-2029 Outreach
Outreach and materials used in the 6t" Cycle Housing Element are provided in Appendix C: Summary of
Community Outreach.
I Analysis of Federal, State, and Local Data and Local Know/edge
Newport Beach officially became an incorporated City in Orange County in September of 1906 and the
current City Charter was adopted in 1954. The City began establishing itself in the 1920s around the
development of the harbor; however it wasn't until the 1950s that the City became a vacation destination
and permanent residents began to settle in the area.11 Between 1960 and 1980 the City experienced a
boom in construction, which resulted in the population increasing from 26,564 residents to 62,549
residents over the 20-year period. Today, about 85,694 persons live in the City of Newport Beach (ACS
2019). Of the residents in the City, 85.8 percent identify as White, 1.0 percent identify as Black, 8.0 percent
identify as Asian, and 8.8 percent of all persons identify as Hispanic or Latino. The City's demographics
display a large contrast between the population that is White and Non -White. Similarly, about 61.0
percent of the County of Orange population is White compared to 1.8 percent who identify as Black, 20.5
percent who identify as Asian and 34.1 percent who Identify as Hispanic or Latino of any race.lz
The City of Newport Beach's population requires a diverse array of housing options. Specifically, Newport
Beach has an aging population. About 23.1 percent of the population is over the age of 65 compared to
14.4 percent in the County. About 8.0 percent of all persons in Newport Beach reported at least one
disability in 2019, majority of which were seniors (over the age of 65). Senior housing and housing
accessibility were key priorities identified by the community during the Housing Element Outreach.
Additionally, the median income for non -family households is significantly lower than that of married
couple households and family households. The ACS 2019 5-year data reports that nonfamily households
earned a median income of $86,656 annually, compared to family households that earned $171,699
annually and married couple households that earned $192,542 annually. The City does not do fair housing
testing, however additional information regarding fair housing concerns and issues was identified through
the County of Orange Al.
Additional housing needs, concerns, and disparities are analyzed below in the Fair Housing Analysis.
Findings from the analysis are reported below under "Local Data and Knowledge."
I nral nata and KnnwlPrfrrP
Locally -derived knowledge and contributing factors were developed through community participation in
outreach events, analysis conducted in Affirmatively Furthering Fair Housing development, feedback and
comments received on the draft Housing Element's data, sites inventory, and policy programs.
Additionally, local knowledge has been gathered and retained by City staff during the course of routine
business over many decades of service. The various City Departments interact with the residents and
businesses, property owners, developers, the various elected and appointed representatives, and the
11 The Chamber Newport Beach, About Newport Beach, https://www.newportbeach.com/about-newport-
beach/#:-:text=The%20City%20of%2ONewport%2OBeach,brokering%20followed%20in%2Olater%20decades., accessed January 24, 2022.
12American Community Survey, DP05 5-year estimates, 2019.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-62
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
public on a daily basis. One aspect of providing service is to listen to the needs of the community and then
to work with all stakeholders to address those needs deemed priorities after public debate. The following
local contributing factors have been identified and several citywide and placed -based strategies to
counter those factors are described later in Section 4 Additional local knowledge is provided regarding
affirmatively furthering fair housing in the Airport Area and West Newport Focus Areas under the
"Analysis of Exacerbating Current Conditions" header later in this Section.:
• Aging Housing Stock — The community and the City's Planning and Code Enforcement Divisions
have indicated that there is an older housing stock that will continue to require rehabilitation as
the housing continues to age. With the relative cost of property, these conditions are a challenge
for maintenance and upkeep due to relatively high cost of improvements.
• Housing Conditions and Senior Housing —The community has noted its higher proportion of aging
population. This is also supported by the demographic information provided in Tables 2-18 and 2-
19 in Section 2 (Profile) of this Housing Element. This tends to create challenges with deferred
maintenance , as those older homeowners may not have the financial resources or physical ability
to perform maintenance functions. Seniors are predominately on fixed incomes and represent
the largest group of residents in need of support to address high housing costs and unique housing
needs. The City's Senior Home Assistance Repair Program (SHARP) works to assist senior citizens
with home repairs. Data for the program is provided in Appendix A. Eligible applicants must be 60
or older and must have an income at or below the 50t"-percentile of median income of Orange
County with net assets not to exceed gross household income for 18 months. The City's Senior
Center (OASIS) plays a vital role in the dissemination of information and services to the senior
community and should be engaged to help facilitate the needs of the senior population.
• Variety of Housing Choices — The City's existing mobile home and upward -trending accessory
dwelling unit (ADU) inventory play a role in keeping an inventory of affordable housing in the
community. The community has expressed its desire to have a good balance of residential
development types and densities to accommodate various income levels and a variety of
household types As discussed in Appendix D, the City has been promoting ADU development and
provides local data to substantiate increased production.
• Redevelop and Infill Opportunities — Residents and property owners indicated a desire to focus
future development in areas seeing a decline in commercial development activity. As such, the
Airport Area and Newport Center Area were included as major opportunity areas due to recent
residential development activities and entitlement requests. The negative effects that the COVID-
19 pandemic and on-line shopping trends has had on the ability to maintain economically
performing commercial properties was also cited as a concern. As such, reuse and repurposing of
commercial and industrial uses is a major opportunity area according to residents.
• Address the High Cost of Housing - The cost of housing in Newport Beach is very high and rents
continue to increase; however, the City has aimed to encourage and preserve a number of
affordable housing units through existing agreements. As part of this Housing Element update,
Policy Action 1K is included to adopt an inclusionary housing program that would require
affordable units to be developed as part of housing development projects meeting the certain
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-63
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Y
applicability criteria. This Inclusionary Housing Program, in conjunction with the implementation
of the Housing Element, will help to boost affordable housing production, which will in turn boost
affordable housing stock to help offset higher housing costs.
• Lower Income Access to Opportunity— High local employment in service industry at resort, hotel,
restaurants, and other tourist -serving businesses contributes to the need for housing affordable
to lower income households. To address this, Policy 4E grants exceptions for affordable housing
projects, and supportive Policies for Housing Goal #5 provides for the preservation of lower
income housing opportunities.
• Transportation and Housing — Through community workshops, residents and stakeholders have
indicated there is a need for improved transit use and better access throughout the community.
In areas where higher density is preferred, such as the Airport Area, access to various
transportation options will increase local economic development potential, physical mobility,
employment and housing mobility.
• Displacement of Residents — As the cost of housing rises, there are continued limitations on
housing options for the younger and older populations. During community workshops, residents
indicated the desire to improve access to housing options throughout various life stages. This
includes rental and ownership opportunities, as well as options for persons with various incomes
and household needs. The ability to age -in -place, not necessarily within an owned single-family
home, but within a senior living community in Newport Beach, was identified as a major priority
given the City's aging population.
• Preserving Economic Integrity — As the RHNA obligations in the City have increased significantly,
increasing development capacity has also increased the project cost for services and land has
become scarce. The members of City's Housing Element Update Advisory Committee, its elected
officials and a number of residents have expressed the need to balance housing with the need
for economic development in the community to foster access to services and jobs.
• Alternative Means to Accommodate Affordable Housing — Throughout the outreach and
consultation process, the public stakeholders decision -makers and housing advocates have
expressed at many meetings and workshops a desire to seek alternatives to accommodating
affordable housing in a high -cost market. This includes ADU development, inclusionary housing
options, and funding and financing mechanisms that further these opportunities. The community
has expressed that ADUs represent the single greatest opportunity to accommodate affordable
housing within existing established high -resource neighborhoods and recommended the inclusion
of policies and programs to encourage them.
Considering the locally derived knowledge and data, the City recognizes that fair housing issues exist
within the community. The City is committed to reducing barriers to providing housing that is affordable
to all. The City has outlined programs to address fair housing issues in Newport Beach in the Section 4:
Housing Plan. As a prime example, Policy Action 4A (Affirmatively Furthering Fair Housing) has Table 4-1
(Fair Housing Actions) and lists nine identified fair housing issues such as access to opportunity,
displacement, and housing mobility. The Table includes both place -based and citywide strategies. Each
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-64
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
issue includes geographic targets, meaningful City actions, priority level, timelines for action, and
evaluative metrics that are aspirational goals to measure performance and to inform changes to future
actions.
Integration and Segregation Patterns and Trends
The dissimilarity index is the most used measure of segregation between two groups, reflecting their
relative distributions across neighborhoods (as defined by census tracts). The index represents the
percentage of the minority group that would have to move to new neighborhoods to achieve perfect
integration of that group. An index score can range in value from 0 percent, indicating complete
integration, to 100 percent, indicating complete segregation. An index number above 60 is considered to
show high similarity and a segregated community.
It is important to note that segregation is a complex topic, difficult to generalize, and is influenced by
many factors. Individual choices can be a cause of segregation, with some residents choosing to live
among people of their own race or ethnic group. For instance, recent immigrants often depend on nearby
relatives, friends, and ethnic institutions to help them adjust to a new country.13 Alternatively, when white
residents leave neighborhoods that become more diverse, those neighborhoods can become segregated.
Other factors, including housing market dynamics, availability of lending to different ethnic groups,
availability of affordable housing, and discrimination can also cause residential segregation.
The Longitudinal Tract Data Base (LTDB) from the Diversity and Disparities project shows that from 1980
to 2010 the City of Newport became increasingly diverse. In 1980, the Non -Hispanic White population
totaled 91.6 percent of the overall population and decreased to about 73.6 percent in 2010. During the
same timeframe, the Hispanic population increased from 5.0 percent to 10.9 percent. Additionally, the
total populations for those who identified as Asian increased from 1980 to 2010, 2.0 percent to 13.6
percent, and the total population of those who are Non -Hispanic Black increased from 0.5 percent to 1.2
percent. However, in 2018, the Black or African American population totaled about 0.8 percent of the
population. The decrease in the Black population and increase in the Hispanic population is consistent
with demographics trends for the greater metropolitan area. In 1980, the Non -Hispanic Black population
equaled 10.1 percent of the overall population for the Los Angeles -Long Beach -Santa Ana metropolitan
area, and the Hispanic population totaled 25.0 percent. By 2010, the Black population totaled 6.7 percent
whereas the Hispanic population increased to 44.4 percent. According to 2018 ACS data, the total Non -
Hispanic Black population in Orange County was 1.7 percent and the total Hispanic population was 34.1
percent.
Figure 3-2 shows the dissimilarity between each of the identified race and ethnic groups and the
jurisdictions White population, in both the County of Orange and Newport Beach. The higher scores
indicate higher levels of segregation among those racial and ethnic group. The White (non -Hispanic or
Latino) population makes up most of the City's population at approximately 79.5 percent according to the
2018 ACS estimates, as well as most of the County's population at 61.7 percent of the total population.
The race and ethnic groups with the highest scores were the Native Hawaiian population (44.5) and people
3 Allen, James P. and Turner, Eugene. "Changing Faces, Changing Places: Mapping Southern California". California State University, Northridge,
(2002).
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-65
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
who reported as Other (51.3). Additionally, those who reported Black and the American Indian population
had dissimilarity indices of 37.8 and 37.4 respectively.
The scores above directly correlate with the percentage of people within that racial or ethnic group that
would need to move into a predominately White census tract in order to achieve a more integrated
community. For instance, in Newport Beach, 44.5 percent of the Native Hawaiian population would need
to move into predominately white census tract areas to achieve "perfect" integration. Whereas in Orange
County, 55.9 percent of the percent of the Native Hawaiian population would need to move into
predominately white census tract areas to achieve "perfect" integration.
Overall, there are higher rates of segregation across the County of Orange compared to the City of
Newport Beach. The Department of Housing and Community Development (HCD) considers dissimilarity
index scores above 30, but below 60 as moderate segregation. Scores above 60 are considered to be high
segregation. According to Figure 3-2 below, while the City of Newport Beach has no racial or ethnic
populations with a dissimilarity index above 60, all populations (with the exception of the Hispanic/Latino
population) have a score above 30, meaning all groups experience moderate segregation from the White
population. Similarly, all populations in the County have a score above 30.
While segregation may be a result of ethnic enclaves or persons of similar cultures living in community,
there is often increased likelihood segregated populations will have fewer access to essential resources.
As a part of Newport Beach's efforts to further fair housing, the City will consider increased targeted
outreach to the City's minority residents.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-66
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Figure 3-2: Dissimilarity Index with Whites — Newport Beach and Orange County
Hispanic
Two or More Races*
Other*
Native Hawaiian*
Asian*
American Indian*
Black*
0
Black*
Orange County 43.8
Newport Beach 37.8
10 20 30 40 50 60 70
American Native Two or More
* Asian* * Other* * Hispanic
Indian Hawaiian Races
40.3 44.1 55.9 44.7 58.9 58.9
37.4 31.2 44.5 51.3 16.6 22.4
Source: Census Scope, Social Science Data Analysis Network, *Not Hispanic or Latino
Racially or Ethnically Concentrated Areas of Poverty (R/ECAP)
To assist communities in identifying racially/ethnically concentrated areas of poverty (R/ECAPs), HUD has
developed a census tract -based definition of R/ECAPs. The definition involves a racial/ethnic
concentration threshold and a poverty test. The racial/ethnic concentration threshold is straightforward:
R/ECAPs must have a non -white population of 50 percent or more. Regarding the poverty threshold,
Wilson (1980) defines neighborhoods of extreme poverty as census tracts with 40 percent or more of
individuals living at or below the poverty line. Because overall poverty levels are substantially lower in
many parts of the country, HUD supplements this with an alternate criterion. Thus, a neighborhood can
be a R/ECAP if it has a poverty rate that exceeds 40% or is three or more times the average tract poverty
rate for the metropolitan/micropolitan area, whichever threshold is lower.
Location of residence can have a substantial effect on mental and physical health, education
opportunities, and economic opportunities. Urban areas that are more residentially segregated by race
and income tend to have lower levels of upward economic mobility than other areas. Research has found
that racial inequality is thus amplified by residential segregation.14 However, these areas may also provide
different opportunities, such as ethnic enclaves providing proximity to centers of cultural significance, or
business, social networks and communities to help immigrants preserve cultural identify and establish
11 Orange County, Analysis of Impediments to Fair Housing Choice, April 2020 DRAFT.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-67
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
themselves in new places. Overall, it is important to study and identify these areas in order to understand
patterns of segregation and poverty in a City.
The 2020 Al performed an analysis of R/ECAPs within Orange County and found four R/ECAPs, none of
which were found in Newport Beach. However, two of the four were found in the neighboring City of
Irvine, adjacent to one another and near the University of California; these both bordered the City of
Newport Beach. According to the Al, it is likely that they qualify as R/ECAPs due to the high proportions
of students. These R/ECAPs have a much more diverse group of residents, with some White, Asian or
Pacific Islander, Hispanic and Black residents. These R/ECAPs primarily contain Asian or Pacific Islander or
Hispanic residents. 23.49% of residents are White, 1.63% are Black, 48.50% are Hispanic, 23.70% are Asian
or Pacific Islander, and 0.14% are Native American.
Figure 3-3 below identifies low poverty index with race/ethnicity and R/ECAPs in Newport Beach, and the
overall Orange County region. The low poverty index captures the depth and intensity of poverty in a
given neighborhood. The index uses both family poverty rates and public assistance receipt, in the form
of cash -welfare, such as Temporary Assistance for Needy Families (TANF). The poverty rate and public
assistance for neighborhoods are determined at the census tract level, and the higher the score, the less
exposure to poverty in a neighborhood. The map identifies the R/ECAP and a few surrounding
neighborhoods, to the south and southeast, The figure identifies R/ECAP areas (outlined in red) bordering
the City of Newport Beach, near the University of California, Irvine.
The map also shows that there are few R/ECAPs in the County as a whole, with a few pockets in the City
of Santa Ana. Overall, the City of Newport Beach is a high income areas, with majority of the population
identifying as white. The City should consider the impact of high cost of housing and higher annual
incomes on lower income households. The current financial circumtance combined with the recent
housing boom can create displacement through economic pressures, where lower income households
need to look for affordable housing outside of the City.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-68
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Figure 3-3: Low Poverty Index with Race/Ethnicity and R/ECAPs, Newport Beach
f-
I -
�:
�Jrl P-�drj [i.i
�_Islils rJsl:lfl
=9Irxx� « I.
V «
IL
' C12812021, 4-56:59 PM
1:288,$95
0 City.Town Boundaries
4 2 4 6mi
(R) Racially or Ethnically Concentrated Areas of Poverty 'R1ECAP'S" (HUD, 200E-20131-Tract
0 3.2;5 6.3 13kn-
0 - i\ot a WECAP
Gry of kWnC Cmrrty of Las AMmim. 8- ai _si Mnzage nc Y. Csr
Source: HUD Affirmitaevly Furthering Fair Housing Data and Mapping Tool, Data Versions: AFFHT0006, July 10, 2020
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-69
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT -
Racially Concentrated Areas of Affluence (RCAA)
Racially or Ethnically Concentrated Areas of Poverty have long been analyzed and reviewed as a
contributing factor to segregation. However, patterns of segregation in the United States show that of all
racial groups, people who identify as White are the most severely segregated.15 Research also identifies
segregation of affluence to be greater than the segregation of poverty. Racial and economic segregation
can have significant effects on respective communities, including but not limited to, socioeconomic
disparities, educational experiences and benefits, exposure to environmental conditions and crime, and
access to public goods and services.
Data used in the analysis of RCAA is from the 2012-2016 American Community Survey and are measured
at the census track level. The definition for an RCAA is a census tract in which 80 percent or more of the
population is White and has a median income of at least $125,000. The nationwide RCAA analysis
identifies the following:
• RCAA tracts have more than twice the median household income of the average tract in their
metro area.
• Poverty rates in RCAAs are significantly lower and are, on average about 20 percent of a typical
tract.
• RCAAs tracts are more income homogenous than RECAPS.
• The average RCAA is about 57 percent affluent, whereas the average RECAP had a poverty rate of
48 percent.
• The typical RCAA tract has a rate of affluence 3.2 times that of a typical tract, whereas RECAPS on
average had a poverty rate 3.2 times that of a typical tract
Overall, RCCAs may represent a public policy issue to the extent that they have been created and
maintained through exclusionary and discriminatory land use and development practices. Postwar
patterns of suburbanization in many metropolitan areas were characterized by White communities
erecting barriers to affordable housing and engaging in racially exclusionary practices."
Currently (October 2020), there is no consolidated database to identify RCAAs, therefore, to identify these
areas in Newport Beach, this analysis examines census tracts with a population gap that is greater than
50% between the nonwhite and white population and a median income over $100,000. Table 3-15 below
displays the RCAA data for the County of Orange and Newport Beach. Additionally, Table 3-16 below
shows local (Newport Beach) and regional (Orange County) context for the median household incomes of
white residents.
15 Racially Concentrated Areas of Affluence: A Preliminary Investigation. University of Minnesota. Edwards Goets,
Damiano, Williams. 2019.
16 Ibid.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-70
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table 3-15: Median Household Income by Race, Newport Beach
Census Tract
Percent Population White
Median Income
Census Tract 630.09
82.7%
$130,089
Census Tract 634
88.84%
$107,321
Census Tract 635
84.6%
$112,000
Census Tract 629
92.1%
$140,833
Census Tract 630.05
86.5%
$171,406
Census Tract 627.01
89.3%
$145,313
Census Tract 627.02
88.4%
$107,829
Census Tract 626.43
71.6%
$199,219
Census Tract 626.42
89.4%
$134,444
Census Tract 626.44
82.4%
$113,779
Census Tract 626.45
76.1%
$167,530
Census Tract 630.07
79.6%
$125,918
Source: HCD, AFFH Data Viewer, Predominant White Population and Median Income (SCA 2010-2014), Accessed October 2021.
Table 3-16: Median Household Income by Race
Race
Newport Beach
County of Orange
Median Income
Population
Median Income
Population
White (Not Hispanic or Latino)
$ 129,797
85%
$94,082
61%
All Households
$127,223
--
$90,234
--
Source: American Community Survey, 5-Year estimates, 2019.
Table S1903 Median Income In The Past 12 Months (In 2019 Inflation -Adjusted Dollars) 5-Year Estimate 2015-2019 (for all
households and for White Alone)
The majority of the City is predominately White. Additionally, the City reports a large percentage of
households who earn a median annual income of at least $125,000. Almost the entire City has an overlap
of high racial concentrations (those who identify as White) and high incomes resulting in RCAAs. Many
lower income housing sites have been identified throughout the City and within areas considered RCAAs.
Figure 3-4 and 3-5 below display the White majority tracts and median incomes throughout Newport
Beach.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-71
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT -
Figure 3-4: Racially Concentrated Areas of Affluence (RCAA) — White Majority Tracts
112512422, 8:14-:15 AM 1:72,224
0 CityeTown Boundaries 0 0.5 1 2}ri
(R) Predominant Population - White Majority Tracts 0 2 4 krn
Slim (gap < 10%)
Sizeable (gap 10% - 50%)
Predominant (gap } 50%)
Source: California Department of Housing and Community Development —AFFH Data Viewer
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-72
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELFMFNT *
Figure 3-5: Racially Concentrated Areas of Affluence (RCAA) — Median Income
1:2� 12. 7:5fi:32 AM 1:72 224
0 Cicyrrawn Boundaries C DF 1 2n•i� . .� �
(R) Median Incame (AGS, 2015-2419) -BLack Group c 1 2 g krn
0 4 ssa,0a0
$e!5,000
- < S87,100 {HC6 202D Slate Median Income)
- $12r'.000
- Greater than 51255,0a0
Source: California Department of Housing and Community Development —AFFH Data Viewer
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-73
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Disparities in Access to Opportunity
Access to Opportunities
The UC Davis Center for Regional Change and Rabobank partnered to develop the Regional Opportunity
Index (ROI) intended to help communities understand local social and economic opportunities. The goal
of the ROI is to help target resources and policies toward people and places with the greatest need to
foster thriving communities. The ROI incorporates both "people" and "place components, integrating
economic, infrastructure, environmental, and social indicators into a comprehensive assessment of the
factors driving opportunity."
As shown in Figures 3-6 and Figure 3-7 below, the majority of the City of Newport Beach is classified as a
high opportunity zone. This indicates a high level of relative opportunities that people can achieve as well
as a high level of relative opportunities that Newport Beach provides. While most of the census tracts
within the City are areas of high opportunity, there are two census tracts within the ROI People Index
shown as yellow, identifying a low opportunity area. Together these areas contain 86 sites which
accommodate 1,941 potential units designated to meet the City's RHNA for lower -income units (shown
in Section 3: Housing Resources and outlined in Appendix B). The Data for both regions with lower
opportunity show high civic life, health, transportation, economic and education access, however, both
show very low housing access. Therefore, the consideration and identification of these areas for housing,
affordable to low and very low-income households, will provide increased housing opportunity in high
opportunity and high resources areas.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-74
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Description
The Regional Opportunity Index (ROQ: People is a
relative measure of people's assets in education,
the economy, housing, mobility/rransportab'on,
health/environment, and civic life.
Legend
Regional Opportunity Index: People
❑ Soma data not available
Lowest opportunity
0
■
Highest Opportunity
Oate:11/19/2020
hops:/Finteract.regionalchange.ucdavi s.edu/r0i/
Figure 3-6: Regional Opportunity Index: People, 2014
Regional Opportunity Index: People, 2014
mf
0 1.5 3 6
Source: UC Davis Center for Regional Change and Rabobank, 2014.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-75
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Figure 3-7: Regional Opportunity Index: Place, 2014
Regional Opportunity Index: Place, 2014
Description
She Regional Opportunity Index (ROIL: Place is a
relative measure of an areas assets in education,
the economy, housing, mobility/transportation,
health/environment, and civic life.
,
i
Lap*nd
Regional Opportunity Index: PEace
,J Some data not available
Lowest Opportunity
Highest Opportunity
City Boundary
Date; 11/19l2C}20
mi
0 1.5 3 6
https-./linteract.regionalchange.ucdavis.edu/rot/
Source: UC Davis Center for Regional Change and Rabobank, 2014.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-76
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Additionally, Table 3-17 and Figure 3-8 below display the data for Regional Opportunity index in Newport
Beach overall compared to the State of California. The data shows the following key findings:
• The City has higher rates of college educated adults, high school graduation rates and higher levels
of UC and CSU eligibility. Additionally, the City has higher levels of Math and English proficiency.
However, the City has higher levels of truancy and discipline rates.
• Newport Beach residents experience significantly higher basic income levels and higher
employment rates. While the City has a higher job availability rate and job quality, overall, both
City and State job growth are similar. Newport Beach residents have higher rates of bank
accessibility (nearly double the state's accessibility rates).
• Newport Beach and the State have the same rate of home ownership, but residents of Newport
Beach experience higher rates of cost burden. Housing adequacy and affordability are similar in
both the City and State, where California has a slightly higher rate of affordability.
• Mobility and transportation access are moderate in both Newport Beach and the State. Newport
Beach residents have a significantly higher commute times than the State's median, this could be
due in part to a lack of public transit or the development patterns of coastal communities.
• Overall health and environmental opportunities are comparable to the State, the City's air quality
is slightly lower than the States. Newport Beach has a slightly lower average of supermarket
availability, however a much higher rate of healthcare availability.
• Newport Beach has higher rates of US citizenship and English speakers, as well as a higher
percentage of voters compared to the State. However, Newport Beach has a slightly lower rate of
neighborhood stability
In summary, Newport Beach is a high opportunity area with quality education opportunities, high rates of
resident achievement, access to local and regional economic and employment opportunities, and high
rates of home ownership. However, the data shows that there are high rates of cost burden in the City
and slightly lower access to supermarkets and healthy foods. The City should focus on increasing access
to affordable housing options to reduce cost burden and aim to increase affordable healthy food access.
Table 3-17: Opportunity Indicators, Newport Beach and California
ROI Indicator
Newport Beach
California
People
College Educated Adults
70%
38%
Math Proficiency
87%
70%
c
English Proficiency
87%
65%
41
Elementary Truancy
34%
24%
V
Place
"'
High School Graduation Rate
93%
83%
UC/CSU Eligibility
52%
41%
Teacher Experience
60%
36%
High School Discipline Rate
8%
6%
U
People
E
Employment Rate
93%
89%
c
Minimum Basic Income
85%
64%
0
Place
Job Availability 1302.07 701.75
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-77
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
ROI Indicator
Newport Beach
California
Job Quality
52%
40%
Job Growth
4%
3%
Bank Accessibility
0.44
0.24
People
Home Ownership
55%
55%
Housing Cost Burden
54%
52%
bb
Place
CA
c
Housing Adequacy
99%
91%
=
Housing Affordability
0.13
0.19
People
Vehicle Availability
96%
86%
0
Commute Time
74%
60%
Internet Access
4.96
4
Place
Infant Health
96%
95%
E
Birth to Teens
1%
7%
c
Years of Life Lost
18.27
29.84
L
Place
Air Quality
8.82
10.01
c�
Prenatal Care
94%
83%
=
Access to Supermarket
47%
53%
Health Care Availability
4.61
1.76
People
Voting Rates
41%
31%
U
English Speakers
92%
88%
>
Place
u
US Citizenship
92%
83%
Neighborhood Stability
82%
85%
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-78
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Figure 3-8: Regional Opportunity Index Newport Beach and California
120
100
sowoo
60
40
20
0 ,
Q101 ,Q1011, ,Qeo� OP
QeOP
a�\off o�J 0
1
\0 �o�J. o�y\��.
�0
Statewide Average Newport Beach
Opportunity Areas
Additionally, the Department of Housing and Community Development (HCD) together with the California
Tax Credit Allocation Committee (TCAC) established the California Fair Housing Task Force to provide
research, evidence -based policy recommendations, and other strategic recommendations to HCD and
other related state agencies/departments to further the fair housing goals (as defined by HCD). The Task
Force developed the TCAC/HCD opportunity Area Maps to understand how public and private resources
are spatially distributed. The Task force defines opportunities as pathways to better lives, including health,
education, and employment. Overall, opportunity maps are intended to display which areas, according to
research, offer low-income children and adults the best chance at economic advancement, high
educational attainment, and good physical and mental health.
According to the Task Force's methodology, the tool allocates the 20 percent of the tracts in each region
with the highest relative index scores to the "Highest Resource" designation and the next 20 percent to
the "High Resource" designation. Each region then ends up with 40 percent of its total tracts as "Highest"
or "High" resource. These two categories are intended to help State decision -makers identify tracts within
each region that the research suggests low-income families are most likely to thrive, and where they
typically do not have the option to live —but might, if given the choice. As shown in Figure 3-9 below,
nearly all of Newport Beach is classified as moderate, high, and highest resource. There is one census tract
in the Northwest Portion of Newport Beach classifies as low resource, the tracts scores identify high
economic resources and low educational resources.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-79
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
5,_
Figure 3-9: TCAC/HCD Opportunity Area Maps, Newport Beach (2020)
Sv ��INGS
IRVINE nor l i
R'A�C-1'I
ALTAIR
�RECTRU'✓� -_
6ilIF•II HI.I
.os o�rvos
Lake.ForeSt
RancY
'IsnNVRuc
�a�ach \ Mar
j
TV��Ti
Ne vpart Beach EWPrpT
cE .ER
Lag2na Woods
l
Legend
City Boundary
Highest Resource
A i o Viejo High Resource
Moderate Resource (Rapidly Changing)
Moderate Resource
Low Resource
High Segregation & Poverty
Missing/Insufficient Data
LAGUNA BEACH National & state Park/Forest/Rpc Area
Source: California Tax Credit Allocation Committee and Department of Housing and Community Development, 2020.
Access to neighborhoods with higher levels of opportunity can be more difficult due to discrimination and
when there may not be a sufficient range and supply of housing in such neighborhoods. In addition, the
continuing legacy of discrimination and segregation can impact the availability of quality infrastructure,
educational resources, environmental protections, and economic drivers, all of which can create
disparities in access to opportunity.
The Department of Housing and Urban Development (HUD) developed the opportunity indicators to help
inform communities about disparities in access to opportunity, the scores are based on nationally
available data sources and assess resident's access to key opportunity assets in the City. Table 3-18
provides the index scores (ranging from zero to 100) for the following opportunity indicator indices:
• Low Poverty Index: The low poverty index captures poverty in a given neighborhood. The poverty
rate is determined at the census tract level. The higher the score, the less exposure to poverty in
a neighborhood.
• School Proficiency Index: The school proficiency index uses school -level data on the performance
of 4th grade students on state exams to describe which neighborhoods have high -performing
elementary schools nearby and which are near lower performing elementary schools. The higher
the score, the higher the school system quality is in a neighborhood.
• Labor Market Engagement Index: The labor market engagement index provides a summary
description of the relative intensity of labor market engagement and human capital in a
neighborhood. This is based upon the level of employment, labor force participation, and
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-80
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
educational attainment in a census tract. The higher the score, the higher the labor force
participation and human capital in a neighborhood.
• Transit Trips Index: This index is based on estimates of transit trips taken by a family that meets
the following description: a three -person single -parent family with income at 50% of the median -
income for renters for the region (i.e. the Core -Based Statistical Area (CBSA)). The higher the
transit trips index, the more likely residents in that neighborhood utilize public transit.
• Low Transportation Cost Index: This index is based on estimates of transportation costs for a
family that meets the following description: a three -person single -parent family with income at
50 percent of the median -income for renters for the region/CBSA. The higher the index, the lower
the cost of transportation in that neighborhood.
• Jobs Proximity Index: The jobs proximity index quantifies the accessibility of a given residential
neighborhood as a function of its distance to all job locations within a region/CBSA, with larger
employment centers weighted more heavily. The higher the index value, the better the access to
employment opportunities for residents in a neighborhood.
• Environmental Health Index: The environmental health index summarizes potential exposure to
harmful toxins at a neighborhood level. The higher the index value, the less exposure to toxins
harmful to human health. Therefore, the higher the value, the better the environmental quality
of a neighborhood, where a neighborhood is a census block -group.
Table 3-18 below displays the opportunity indices by race and ethnicity for persons in Newport Beach.
The table displays the following results:
• According to the data, there is low poverty among the population of Newport, across all
racial/ethnic groups.
• Additionally, the access to quality education system is high among all racial/ethnic groups (each
group has an opportunity index score above 80).
• The data shows the City offers high labor and economic opportunity as well as sufficient access to
transportation.
• While the data shows a high access to transportation, it also shows that the transportation is less
affordable, specifically to non -Hispanic Asian or Pacific Islander and Native American populations.
• The data also shows low environmental health index scores across all racial/ethnic groups, below
50.
• Households who earn below the poverty rate in Newport Beach have lower levels of opportunity
access across all indicators as well as race and ethnicities.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-81
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table 3-18: Opportunitv Indices by Race/Ethnicity, Newport Beach
Low
School
Labor
Low
Jobs
(Newport Beach, CA
Transit
Environmental
Poverty
Proficiency
Market
Transportation
Proximity
CDBG) Jurisdiction
Index
Health Index
Index
Index
Index
Cost Index
Index
Total Population
White, Non -Hispanic
81.31
90.17
82.88
86.59
75.16
90.40
41.36
Black, Non -Hispanic
78.86
89.72
81.85
86.92
76.61
90.54
40.65
Hispanic
79.04
88.93
81.76
86.93
76.81
89.82
40.55
Asian or Pacific
Islander, Non-
84.48
91.60
85.94
83.05
68.64
89.19
38.80
Hispanic
Native American,
79.22
88.29
81.86
88.35
78.06
91.17
40.73
Non -Hispanic
Population below federal poverty line
White, Non -Hispanic
78.99
89.20
83.30
87.76
78.81
90.38
43.27
Black, Non -Hispanic
78.71
86.38
78.21
89.58
85.43
87.99
48.46
Hispanic
82.46
87.75
81.41
88.28
77.88
89.87
41.76
Asian or Pacific
Islander, Non-
84.34
88.97
82.79
88.43
76.05
92.09
39.15
Hispanic
Native American,
77.00
89.17
88.00 J
93.00
85.00
95.55
40.00
Non -Hispanic
Source: Department of Housing and Urban Development, Affirmatively Furthering Fair Housing Online Mapping tool, Decennial
Census; ACS,• Great Schools, Common Core of Data; SABINS,• LAI; LEHD, NATA
Access to Education, Economic and Transit Opportunities
School Proficiency, Labor Market and Job Proximity
Table 3-19 below displays opportunity indicators based on school proficiency, labor market, and job
proximity. The City of Newport Beach has no Title I schools. Title I schools help low -achieving children
meet state standards in core academic subjects. These schools coordinate and integrate resources and
services from federal, state, and local sources. To be considered for Title 1 school funds, at least 40 percent
of the students must be considered low-income. Additionally, the data shows that the City has an annual
unemployment rate of 3.1%. Additionally, over 69.4 percent of residents has commute that is 30-minutes
or less. The City of Newport Beach provides a variety of economic opportunities for current and future
residents; however, the data shows there is little educational opportunities for lower achieving students.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-82
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table 3-19: Opportunity Indicator — School Proficiency, Labor Market, Job Proximity
Opportunity Indicator
Newport Beach
School Proficiency
Total Title I Schools
0
Total Schools
12
% of Schools
0%
Unemployment Rate
Total Unemployed
1,408
Annual Rate
3.1%
Job Proximity
<29 mins.
69.4%
30-59 mins.
22.6%
60 mins. or more
8.1%
Source:
National Center for Education Statistics, public Schools Directory. Accessed October 29, 2021.
American Community Survey 2013-2017, S1701.
American Community Survey 2013-2017, S0801
Opportunity Indicators
The TCAC/HCD Opportunity Area Maps include education data, as illustrated in Figure 3-10. This data
represents opportunity levels based on the following four factors:
• Math proficiency — Percentage of 4th graders who meet or exceed math proficiency standards.
• Reading proficiency — Percentage of 4th graders who meet or exceed literacy standards.
• High school graduation rates — Percentage of high school cohort that graduated on time.
• Student poverty rate — Percentage of students not receiving free or reduced -price lunch.
Additionally, The TCAC/HCD Opportunity Area Maps include economic data, as illustrated in Figure 3-11.
This data represents opportunity levels based on the following five factors:
• Poverty — Percent of population with income above 200% of federal poverty line.
• Adult Education — Percent of adults with a bachelor's degree or above.
• Employment — Percent of adults aged 20-64 who are employed in the civilian labor force or in
the armed forces.
• Job Proximity — Number of jobs filled by workers with less than a BA that fall within a given
radius (determined by the typical commute distance of low -wage workers in each region) of
each census tract population -weighted centroid.
• Median Home Value - Value of owner -occupied units.
Figures 3-10 and 3-11 below display the geographic data for education and economic opportunity in
Newport Beach using the TCAC data detailed above. The data shows that nearly all of Newport Beach
census tracts show high positive education outcomes. High positive outcomes mean there are high testing
scores amongst elementary schoolers, high graduation rates and low poverty rates. Compared to the
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-83
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
region, coastal cities with higher median incomes show higher positive outcomes for education.
Additionally, the data shows that all census tracts in Newport Beach are high positive outcome. Similar to
the education data, positive outcomes are consistent in costal and high -income cities in Orange County.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-84
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Figure 3-10: TCAC — Education Score
10{2912021. 10:2136 AM
0 Ci1ylT0wv1 Boundaries
(R) 1-CAC Opporlundy AreBs f2721 �- Education Score -Tract
� 0.25 (Less Pruitive Education Outcomes)
0.25 - 4.50
0.50 - 0.75
> 0.75 (More P.itNe Education Outcomesl
No Data
12BS.895
1) 2 4 6 M1
�I 4 1T4 5 5�
0 3.25 6.5 13 km
Gry dct'm Mass. Ckg cc 14-0 1BaaO. C. ntYVW, A40164. EU MU
d L M Mm.9 fl. €-. HQAs:. Ganrvn USGS. EPA, HPS €an H€Q
Game. 0Ope && Waa mnribaias, and drc Gig —aommu 1y
Source: HCD AFFH Data Viewer, Accessed September 10, 2021 vironmental Justice
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-85
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
q Sys
Figure 3-11: TCAC — Economic Score
NNW 0 I= t
FIN
Emir.
ry y_ tmucstE'�
,ari Jra E_l f
1012W2021, 10:31:01 AM
Q CItylTown Boundaries
(R) TCAC 09pcwtue1ity Areas (ZD21 )- Ecanomic Scare -Tract
a 0.26 (Less Flos'ttive Ecanomic Dutcome�
0 0.2.5 - 0.50
0.So - 0. 75
- > 0.75 (More PositYve Economic Ou=me)
Na Data
1:288,895
D 2 4 a mi
�I 1 IT4 5 i�
0 3.25 6.5 13 km
G!y d Cce Hess. Cry d -N-"q 15 B h. Cw ,ty W Lug Aogel— &--
H L. N M—g—1 Efr. .+I RE G,rnsn. UWS EPA, NPS Esn HGR;
Game. A0,-SI.—IM.P—kibw—and Te GI3—ca -Hy
Source: HCD AFFH Data Viewer, Accessed September 10, 2021vironmental Justice
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-86
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Access to Transit
Access to transportation, specifically public transit provides households with affordable and
environmentally friendly commuting options. It can also increase accessibility to essential retail such as
grocers and markets as well as recreational activities and safe transit options for young adults and
children.
AIITransit explores metrics that reveal the social and economic impact of transit, specifically looking at
connectivity, access to jobs, and frequency of service. According to the data shown in Table 3-20, Newport
Beach scored a 3.9 AIITransit performance score, illustrating a low combination of trips per week and
number of jobs accessible that enable a moderate number of people to take transit to work. In total,
138,164 jobs are accessible within a 30-minute trip from Newport Beach, however just 0.55 percent of
commuters use transit. Additionally, AIITransit identified the following transit related statistics for
Newport Beach:
• 95.4 percent of all jobs in Newport Beach are located within % mile of transit
• There are 53,761 customer households within a 30-minute transit commute of local businesses
• 1.86 percent of workers in Newport Beach walk to work
• 1.02 percent of workers in Newport Beach bike to work
• 0 percent of low-income households live near transit
By comparison, Newport Beach scored lower than neighboring jurisdictions of Costa Mesa (5.4),
Huntington Beach (4.4), and Irvine (3.6), however slightly higher than Laguna Beach (3.8). Overall, the City
of Newport Beach has a lower AIITransit score than the County of Orange (3.9 in Newport Beach and 4.2
in the County).
Table 3-20: Opportunity Indicator —Transit
All Transit
Transit Trips
Jobs Accessible
Commuters Who
Transit Routes
Jurisdiction
Performance
Per Week
in 30-min trip
Use Transit
within 1/2 Mile
Score
within 1/2 Mile
Newport
3.9
410
138,164
0.55%
4
Beach
County of
4.2
528
172,595
2.28
4
Orange
Source: AIITransit, Transit Scores. Accessed October 29, 2021.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-87
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Figure 3-12: AIITransit Score, Newport Beach
bmtFH COd5t Ir?JMy LEbAr:V
METRO
AIITrans it TM' Performance Score on
14
.
309
Low combination of trips per week and number
of jobs accessible enablingfewpeopletotake#
transit to work Salit
i�- m 4u
me TEE ROCK
x x x
Ne
Bea c
� . an ,to8quin
Hells
Pit
NEWPORT COAST
Ck
AIITransitT`'' Performance Scorel■ < 1 ■ 1-2 ■ 2-4 ■ 4-5 ■ 5-b 6-7 7 9 9+ Lnq;inr,
Environmental Justice
The California Office of Environmental Health Hazard Assessment (OEHHA) developed a screening
methodology to help identify California communities disproportionately burdened by multiple sources of
pollution called the California Communities Environmental Health Screening Tool (CalEnviroScreen). In
addition to environmental factors (pollutant exposure, groundwater threats, toxic sites, and hazardous
materials exposure) and sensitive receptors (seniors, children, persons with asthma, and low birth weight
infants), CalEnviroScreen also takes into consideration socioeconomic factors. These factors include
educational attainment, linguistic isolation, poverty, and unemployment. Research has shown a
heightened vulnerability of people of certain ethnicities and lower socioeconomic status to environmental
pollutants.
The CalEnviro Model Is made up of a suite of 20 statewide indicators of pollution burden and population
characteristics associated with increased vulnerability to pollution's health effects. The model uses the
follow analysis and calculation to identify areas which may create health risk:
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-88
(September 2022 Final Housing Element)
City of Newport Beach'
2021-2029 HOUSING ELEMENT��
• Uses a weighted scoring system to derive average pollution burden and population characteristics
scores for each census tract.
• Calculates a final CalEnviroScreen score for a given census tract relative to the other tracts in the
state by multiplying the pollution burden and population characteristics components together.
• The score measures the relative pollution burdens and vulnerabilities in one census tract
compared to others and is not a measure of health risk.
Figure 3-13 below displays the results for the CalEnviroScreen in Newport Beach. The data shows that all
of Newport Beach is low to lowest scoring (light to dark green), meaning that throughout the City there is
low proximity or exposure to harmful pollutants. Compared to the region, majority of the coastal cities
are identified as low pollutant burdens. Cities to the east of Newport beach, such as Santa, Ana, Anaheim,
Orange, and Garden Grove experience higher rates of pollution burdens and exposure to harmful
pollutants. The discrepancy in pollution exposure could be related to cost of land. Land in Newport Beach
is significantly more expensive than land in Anaheim, Santa Ana and Garden Grove, therefore, warehouse
and industrial developers can buy larger lots of land for less money to accommodate manufacturing,
trucking, industrial parks and other uses which produces higher traffic and pollution.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-89
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
4 -r
Figure 3-13: CalEnviroScreen 4.0, Newport Beach
Source: HCD AFFH Database, Accessed October 29,2021.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-90
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Discussion of Disproportionate Housing Needs
The analysis of disproportionate housing needs within Newport Beach evaluated existing housing need,
need of the future housing population, and units within the community at -risk of converting to market -
rate.
'uturA rrninith Alccr�
The City's future growth need is based on the RHNA production of 1,456 very low and 930 low-income
units within the 2021-2029 planning period. Appendix B of this Housing Element shows the City's ability
to meet its 2021-2029 RHNA need at all income levels. This demonstrates the City's ability to
accommodate the anticipated future affordable housing needs of the community.
=xisting Need
As described in Section 3.F.1 of this Housing Element, the Orange County Housing Authority administers
Section 8 Housing Choice vouchers within the City of Newport Beach. As of October 30, 2020, the City has
allocated 112 Section 8 vouchers to residents within the community: 30 for families, 20 for persons with
disabilities, and 62 for seniors.
Additionally, a variety of affordable housing opportunities currently exist in the City. In Orange County,
each category of publicly supported housing (public housing, Project Based Section 8, Other Multi -unit
Housing, Housing Choice Vouchers, and Low -Income Housing Tax Credit [LIHTC] units) is represented,
although that representation varies greatly depending on the individual municipality. Table 3-21 below
identifies the variety of publicly supported housing, by percent, in the City of Newport Beach.
Table 3-21 below displays the demographics of all publicly supported housing in Newport Beach. The data
shows that majority of persons who utilize and receive public housing support identify as White, with a
small percentage Hispanic or Asian/Pacific Islander.
Table 3-21: Publicly Supported Housing Demographics, Newport Beach
Asian or Pacific
White
Black
Hispanic
Housing Type
Islander
Project -Based
85
o
87.63/0
0
0
0.00/
3
0
3.09/0
9
0
9.28/
Section 8
HCV Program
99
70.21%
14
9.93%
15
10.654%
13
9.22%
LIHTC
238
85.9%
8
1.99%
147
35.57%
12
2.99%
Total Households
32,490
84.94%
135
0.35%
2,485
6.6%
2,477
6.45%
Source: County of Orange, Analysis of Impediments
Notes: HVC = Housing Choice Voucher
LIHTC = Low -Income Housing Tax Credit
Housin_p Needs in Newport Beacr
A variety of factors affect housing needs for different households. Most commonly, disability, household
income and households' characteristics shape the type and size of housing units needed, as well as
accessibility based on existing units in a City. Tables 3-22 through 3-27 displayed data for demographic
characteristics of Newport Beach, as compared to the County of Orange and the State of California.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-91
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Additional detailed analysis of the Newport Beach community demographics is outlined in Chapter 2:
Community Profile of this Housing Element.
Homelessness
People experiencing homelessness are those who do not have a fixed, regular, and adequate overnight
residence, or whose overnight residence is a shelter, street, vehicle, or enclosure or structure unfit for
habitation. Factors contributing to increases of homelessness may include the following:
• Lack available resources to support stable housing access
• Spikes in rent increase and lack of tenant protections
• Housing discrimination
• Evictions
• Lack of housing affordable to low- and moderate -income persons
• Increases in the number of persons whose incomes fall below the poverty level
• Reductions in public subsidies to the poor
• The deinstitutionalization of the mentally ill
According to the Orange County Point in Time report, in 2019 there were an estimate 64 unhoused
persons in Newport Beach. Overall, the 64 unhouse persons in Newport Beach in 2019 account for about
1.6 percent of the overall Orange County count of 3,961 persons. When contextualized with the total
number of people residing in Newport Beach, the 64 homeless individuals represent approximately .07
percent of the population. In neighboring jurisdictions, the point in time count of homeless persons in
2021 was:
• Huntington Beach: 349 persons
• Laguna Beach: 147 persons
• Irvine: 130 persons
• Costa Mesa: 193 persons
Data for 2020 and 2021 is not broken down by individual jurisdiction. However, in 2020 there were a total
of 3,017 persons experiencing homelessness in Orange County and 2,441 persons in 2021. The racial and
ethnic demographic data for unhoused persons in 2021 is not broken down by jurisdictions, however for
the 2,441 unhoused persons in the County, 10 percent experienced chronic homelessness. Additionally,
77 percent identified as White, 12 percent identified as Black, three (3) percent identified as American
Indian, less than one (1) persons identified as Native Hawaiian and 45 percent identified as Hispanic or
Latino. About 295 persons were seniors (60 years+) and about 102 persons were youth, 288 persons were
experiencing domestic violence and 162 persons were veterans. Of the persons living in shelters, 334
experience mental health conditions, 308 persons experience a physical disability, and 297 persons
recorded substance abuse.17
Disability
Table 3-22 displays the data for persons with disabilities in the City, County, and State. Overall, about 10
percent of the California population reported having at least one disability. In the City, about 8 percent of
17 Orange County Homeless Point -in -Time Count, Orange County Homeless Management Information Systems.
2019, 2020 and 2021. Accessed online: January 24, 2021.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-92
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
persons reported at least one disability. The County reported a higher percentage than the City at 8.5
percent. Of the 8 percent of Newport Beach residents who reported a disability, the majority were
independent living and ambulatory difficulties, which could be tied to the City's senior population. Ease
of reasonable accommodation procedures and opportunity for accessible housing can provide increased
housing security for the population with disabilities.
Table 3-22: Population by Disability Type, Compared by Geography, 2019
Disability
City of Newport Beach
County of Orange
California
Total with a Disability
8%
8.5%
10.6%
Hearing Difficulty
2.7%
2.5%
2 9%
Vision Difficulty
1.5%
1.5°%
2°%
Cognitive Difficulty
3.0%
3.4%
4.3%
Ambulatory Difficulty
3.7%
4.5%
5.8%
Self -care Difficulty
1.7°%
2 2°%
2 6°%
Independent Living
3.6%
4.3%
5.5%
Source: American Community Survey, 5-Year Estimates, 2019.
The data in Figure 3-14 below displays data for disability status in Newport Beach by census tract. The
data shows that in Newport Beach most of the census tracts report under ten percent of the population
to have at least one disability. Some census tracts to the northwest show that between 10 and 20 percent
of the population report at least one disability. Overall, majority of the surrounding areas shows less than
10 percent of the population has reported at least one disability with some pockets of the region which
have a population between 10 and 20 that reports a disability.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-93
(September 2022 Final Housing Element)
City of Newport Beach 4
2021-2029 HOUSING ELEMENT�i `
Figure 3-14: Persons with Disabilities
f
f
JyI
/f1
+ A�ppM
t @Mow,
4�7�5arzc�c
111412 021. 1:33:02 PM 1:14-4A48
0 1 2 4 mi
0 City/Town Boundaries T
0 1.5 3 5 km
(R) Population with a Disability (ACS, 2015 - 2019) -Tract
10%
aiv or Newpor, Beech. c:w ny or Loa Angeles, aveau ar Lmd
+11 Hrr� H�O Manapn .. Ew ti@ir, Ci n. uSG5. EPA. NPS. Gai. HERE. C—n.
y 0�ry /. .y- �0 0CT—SircelMapm neumm. ad the GIS user w—niry
Source: HCD AFFH Database, American Community Survey. Accessed November 3, 2021.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-94
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Income and Familial Status
Table 3-23 displays household type and income data for the State, County and City. Overall, the City has
a smaller percentage of family households than the County and State; this includes family households,
married -couple family households, and those with children. Of the three jurisdictions, the City has the
largest percentage of non -family households (42.2 percent, compared to 28.3 at approximately 2 percent
more than Orange County and about 6 percent more than the City. The City has a higher percentage of
households with at least one senior over the age of 60 as compared to the state (29.2 percent) but a lower
percentage than the County (39.9 percent).
Table 3-23: Population by Familial Status, Compared by Geography, 2019
Familial Status
City of Newport Beach
County of Orange
California
Total Households
37,605
1,037,492
13,044,266
Family Households
57.7%
71.7%
68.7%
Married -Couple Family Households
49.6%
54.9%
49.8%
With Children
21.1%
30.9%
34%
Non -Family Households
42.2%
28.3%
31.3%
Households with one or more people 60 years+
35.5%
39.9%
29.2%
Female Headed Households, No Spouse Present
with Children
Source: American Community Survey, 5-Year Estimates. 2019
The data in Figure 3-15 and Figure 3-16 below shows living arrangements of children by census tract in
Newport. Figure 3-15 shows the percent of children in married couple households by census tract in
Newport Beach. The data shows that most census tracts have children living in married couple households
(above 80 percent per tract). There are few pockets adjacent to Costa Mesa and along the coast that show
children living in married couple households where the census tract is between 60 and 80 percent. Figure
3-16 shows the percent of children in female headed households with no spouse/partner by census tract
in Newport. The data shows that most children are not in female headed households with no spouse and
children present where the census tract shows less than 20 percent. There is one census tract where there
is between 60 and 80 percent of children living in female headed households with no spouse/partner.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-95
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Figure 3-15: Married Couple Households with Children
1 V412021, 1:36:09 PM
IM CityFrown Boundaries
(R) Percent of Children in Married - Couple Households (AC5. 2015-2019) - Tract
0 20%-40%
- 40% - 00 %
60%-eo]°
xam
1:144,448
0 1 2 4 ml
1) 1.5 3 5km
CiY U Came llese. Coy U Wmbeech. CwnlY of Loa Angeles. Ekneeu
al Land M-Rg—.l F-. NE7G G—, Ur.G$. EPA. NP$, Eon. NUF
Garmi. 0ID".are W p—trib d—and tie GIG —oo 115,
Source: HCD AFFH Database, American Community Survey. Accessed November 3, 2021.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-96
(September 2022 Final Housing Element)
City of Newport Beach -
2021-2029 HOUSING ELEMENT
Figure 3-16: Female Headed Households, No Spouse/Partner Present with Children
I
t
t--
�e
No
.. J
Ile
11 1412021, 1:43:04 PM 1:14-4,449
0 1 2 4mi
CV;To m Boundaries i .1 ,T, ' ,T
Percent of Chl ldren in Female Householder, No 0 1.5 3 6km
Sp—o;P—ner Presem Households
lb 180%
lb 60%-80%
40%-60%
GY U CJ6in M65tl. Cfr A YrirocA 86tl4?i. Coui4rA Lai R--r�lea. &ua9u
20%-40% a2 4.in;i M.nagcrnwn E-. M Ginrvn, u$iG5 EPA, w?S. E—. NE
s zo% fiE
Gann. m Oyen-S r—e M mnribuln .and fie Gig user oorr. ninny
Source: HCD AFFH Database, American Community Survey. Accessed November 3, 2021
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-97
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Regarding household income, the City had a significantly higher median household income than the
County and State in 2019 ($127,223 in the City compared to $90,234 in the County and $75,235 in the
State). As Table 3-24 shows, majority of the City's households are higher earning; in total 70.4 percent of
households in Newport Beach earn more than the State median -income. Additionally, over 30 percent of
households in Newport Beach earn $200,000 or more annually. In the state, nearly 38 percent of
households earn $100,000 or more and 45.2 percent in the County of Orange. Just under 20 percent of
City residents earn less than $50,000 annually, compared to 27 percent and 34 percent for the County
and State, respectively.
Table 3-24: Households by Income, Compared by Geographv, 2019
Households Income
City of Newport Beach
County of Orange
California
Less than $10,000
3.8%
4.2%
4.8%
$10,000-$14,999
2.5%
2.7%
4.1%
$15,000-$24,999
4.3%
5.6%
7.5%
$25,000-$34,999
3.6%
6.0%
7.5%
$35,000-$49,999
5.7%
8.8%
10.5%
$50,000-$74,999
9.8%
14.6%
15.5%
$75,000-$99,999
10.1%
12.8%
12.4%
$100,000-$149,999
16.7%
18.6%
16.6%
$150,000-$199,999
10.8%
11.1%
8.9%
$200,000 or More
32.8%
15.5%
12.2%
Median -Income
$127,223
$90,234
$75,235
Source: American Community Survey, 5-Year Estimates, 2019
Figure 3-17 shows median household income by block group in Newport Beach. The data shows that
Newport Beach range at different median income levels. There is a large number of block groups in the
southern portion and along the coast of Newport Beach whose median income for households is greater
than $125,000. There are block groups in the northern areas of Newport Beach ranging from less than
$55,000 and less than $125,000.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-98
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Figure 3-17: Median Income for Households in Newport Beach
11W2021, 1:47:38 PM 1714-4.448
4 1 2 4 mi
CityfTown 8ountlartes I � �` I' � I , ' � � IJ
(R) Medpan Income (ACS, 2015-Xl9) - BbckGroup
0 $30,040
$55,000
{ $87,100 (HCD 2Q20 State Me::ier I'1C_ilt• i
Greater than
1.5
s krrr
CiV M CWW fih M. Cilr d! t4,* 'I fieaO. M4 LV 0I Loa fMW leb. &!lead
M L nd 4Aa gu.=, r-. HERE. C.— 5JWS. EPA, HAS Es H6p£.
Ga i.. 00".Sl—W.p oo tWl—and F¢GISuscc —ily
Source: HCD AFFH Database, American Community Survey. Accessed November 3, 2021.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-99
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Overpayment
Table 3-25 displays data for households experiencing overpayment or cost burden in the State, County
and City. Housing Cost burden has a number of consequences for a household, mainly displacement from
their existing living situation creating limited access essential goods and often employment by potentially
increasing commute times. Overall, the percentage of households that experience a cost burden greater
than 30 percent is similar amongst the City, County, and State with all three reporting about 75 to 80
percent. The City has a slightly higher percentage of households that have a high -cost burden over 50
percent (21.4 percent in the City, compared to about 19 percent in the County and State). Increased
opportunity for affordable housing and housing assistance funds help to prevent cost burden on
households.
Table 3-25: Households by Overnavment. Compared by Geoeraphv
Overpayment/Cost Burden
City of Newport Beach
County of Orange
California
Cost Burden > 30%
76.3%
79.3%
79.2%
Cost Burden > 50%
21.4%
19.3%
19.4%
Cost Burden Not Available
2.1%
1.4%
1.4%
Source: Consolidated Planning/CHAS Data, 2013- 2017.
Figure 3-18 and displays Figure 3-19 the housing costs as a percentage of household income, specifically
overpayment by homeowners and overpayment by renters, by census tract in Newport Beach. The data
shows that most homeowners and renters in Newport Beach overpay for housing. Figure 3-18 shows most
areas are between 20 percent and 60 percent of homeowners with mortgages whose monthly costs are
30 percent or more of their household income. There is a census tract where the overpayment of
homeowners is shown at above 80 percent. Figure 3-19 shows most areas are between 20 and 60 percent
of renter households whom gross rent is 30 percent or more of their household income.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-100
(September 2022 Final Housing Element)
City of Newport Beach _ i}
2021-2029 HOUSING ELEMENT b
Figure 3-18: Overpayment by Homeowners
1114/2021. 2:05:26 PM
CitpToaw Boundaries
(R) Overpayment by Home Owne!s (ACS, 2015 - 2019) - Tract
c 20
-20%-40%
-40%-60%
60°1 -80°I
} 80%
a;l,1.
1:144„448
❑ 1 2 4 mi
0 1.5 3 6 km
firy sf. Cosia �1esa CaY a Nw�pcA 8eacn. Goirilr� Las Anynlee, &Hasa
c+. Lantl iU7„n�garnm�l Esn iiiRr, G nrvn u$GS EPA, VPS Ear., RERF
Gamdn. Ci 01—& .3Aap _Tibuiaa.and au GIS usQ «nrrn�nnp
Source: HCD AFFH Database, American Community Survey. Accessed November 3, 2021.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-101
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
5,
Figure 3-19: Overpayment by Renters
11 W2021, 2:08:1$ PM
CityfTown Boundaries
(R) 4verpaymerit by Renters (ACS, 2015 - 2019) - Tract
E::]e20%
- 20%-4Ck%
-40%-60%
60%-80n%
- x 64°b
lrJB.)
ate U&Z
'TF1„9
1: 144,448
fl 1 2 4 mi
0 1.5 3 5km
CGY & Cv tiara. Cry 0 4,"q Sea.:n G—ky ui Lug AnLcl— B—u
urxi M—g.—d Rs. +IRE C-- JSGS EPA, NPS E— HGRr,
3x", - :_••: 'ec?daR 9an4i6VlOn.and fie GlSusQc -hy
Source: HCD AFFH Database, American Community Survey. Accessed November 3, 2021.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-102
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Overcrowding and Tenure
Table 3-26 displays data for household tenure (owner vs. renter) for the State, County and City.
Homeownership is a crucial foundation for helping families with low-income to build strength, stability
and independence. The opportunity for transition into the homebuyer's market is important for persons
and households in different communities, homeownership allows for increased stability and opportunity
to age in place. Table 3-26 shows that the City has a comparable rate of homeownership to the County
and a slightly lower ownership rate that the State.
Table 3-26: Households by Tenure, Compared by Geographv, 2019
Household Tenure
City of Newport Beach
County of Orange
California
Owner Households
56.7%
57.4%
66.0%
Renter Households
43.3%
42.6%
34.0%
Total Occupied Housing Units
37,605
1,037,492
13,044,266
Source: American Community Survey, 5-Year Estimates, 2019,
Additionally, Table 3-27 displays data for overcrowding in the State, County and City. Overcrowding is
defined as between 1.01 and 1.5 persons per room in a household, and severe overcrowding is defined as
more than 1.51 persons per room. Overcrowding often occurs when nonfamily members combine
incomes to live in one household, such as college students and roommates, it also occurs when there are
not enough size appropriate housing options for large or multigenerational families. The City experiences
very low rates of overcrowding in comparison to the County and the State. According to the data,
overcrowding occurs more frequently in renter households rather than owner households. In Newport
Beach, owner households that are severely overcrowded represent 0 percent of all households, while
severely overcrowded renter households represent 0.3 percent. In the County and state a trend similar in
the County and State.
Table 3-27: Households by Overcrowding, Compared by Geography
Overcrowding and Tenure
FCity of Newport Beach
County of Orange
California
Owner Households
Overcrowded
0.5%
2.6%
1.6%
Severely Overcrowded
0%
1.0%
0.6%
Renter Households
Overcrowded
3.1%
9.8%
3.6%
Severely Overcrowded
0.3%
6.0%
2.4%
Source: American Community Survey, 5-Year Estimates, 2019.
Figure 3-20 and Figure 3-21show overcrowded households and severely overcrowded households,
respectively. The data from these figures shows that overcrowded households is not a precedent issue
for Newport Beach. Figure 3-20 shows that all the census tracts in Newport Beach is less than the
statewide average for overcrowded households.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-103
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Figure 3-20: Households Experiencing Overcrowding
111412021, 3-20'16 PM
0 CitylTown Boundaries - 12.01 % - 15%
(R) Overcrowded Households (CHHS) - Tract - 15 01 % _ 20%
0 s 8.2% (Statewide Avefage.1 � y 20%
0 8.3% - 12%
,mow
1-14-4,448
D 1 2 4 ml
1 IT, , I . IT
0 1.5 3 BKM
QV e! Cvs%. Me s-s. C4 d Me+.-ri beach. M nky ai Los Rn06B. 6ui su
a� L irl k "r..—1 Vs HS{2f C n USGS, FPA, HUS risn riGRF
J.-5?.ae -Mj o 'fibulwi and ie GIS— culr- mily
Source: HCD AFFH Database, American Community Survey. Accessed November 3, 2021.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-104
(September 2022 Final Housing Element)
City of Newport Beach 4
2021-2029 HOUSING ELEMENT�-i `
Figure 3-21: Households Experiencing Severe Overcrowding
r � I
:[ f
�• �� ��� y�fr rf
111412D21. 3.21:35 P M
CityiTown Boundaries
(R) Severely Overcrowded Households (CHHS) - Tract
No data
I4NM
(
twoname
1:14-4,448
0 1 2 4 mi
0 1.5 3 6 km
C4 u? cvae ars& cr,y d N&�Wrl 86e: Ti couiry W L08 AAW1ee. eu 66u
ai Lard 6.4—g—m Esn. NEA6 n sJSGS EPA, NP5. Een NEQt
G—Q OFa &—lbUap—Vibul and arc GIG usm ounvnuniiy
Source: HCD AFFH Database, American Community Survey. Accessed November 3, 2021.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-105
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Housing Stock in Newport Beach
Table 3-28 displays comparative housing stock data for the State, County and City. Table 3-28 below
shows data for occupied housing units by type. A variety of housing stock provides increased opportunity
in communities for different size and households types. The majority of housing stock in Newport Beach
is classified as one -unit -detached housing, or single-family housing. Just under 18 percent of Newport
Beach homes include 20 or more units, referred to as multi -family housing. In comparison to the County
Orange has a greater amount of single-family homes, and an overall smaller number multi -family housing
(2 or more units).
Table 3-28: Occupied Housing Units by TvDe. Compared by Geographv
Housing Unit Type
City of Newport Beach
County of Orange
California
1, detached
48.4%
50.6%
57.7%
1, attached
15.1%
12.3 %
°
7.0%
2 units
4.8%
1.6%
°
2.4%
3 or 4 units
4.5%
6.9%
°
5.5 °
5 to 9 units
4.4%
6.7%
°
6.0%
10 to 19 units
3.5%
5.4%
°
5.2 °
20 or more units
17.9%
13 7%
12.3%
Mobile home or other type of housing
1.3%
2 7%
3.7%
Source: American Community Survey, 5-Year-Estimates, 2019.
Table 3-29 below displays housing stock by year built or the City, County, and State. A factor used to
determine housing condition is the age and state of the home. Older housing generally requires more
upkeep, regular maintenance and can cause a cost burden on both renters and homeowners. Majority of
Newport Beach's housing stock was built between 1960 and 1999. Development shows to have slowed
significantly in the City after 2010, which could be indicative of the Great Recession. Majority of the
County's and State's housing units were built between 1980 and 2009 whereas the distribution of
development was more dispersed from 1950 to 1990 in the State. Majority of Newport Beach's homes
are over between 40 and 70 years old, built between 1950 and 1979 (53.4 percent). Homes over 50 years
old have an increased likelihood of needing more major repairs to key systems and building components.
Therefore, these homes are at a higher risk of needing repair or replacement. Overall, increased numbers
of older housing which is not maintained can lead to cost burden and substandard living conditions.
Table 3-29: Housing Unit by Tvpe. Compared by Geogravhv
Year Built
City of Newport Beach
County of Orange
California
Built 2014 or later
1.6%
2.7%
1.7%
Built 2010 to 2013
1.7%
2.0%
1.7%
Built 2000 to 2009
10.4%
8.3%
11.2%
Built 1990 to 1999
14.3%
11.7%
10.9%
Built 1980 to 1989
10.9%
14.9%
15.0%
Built 1970 to 1979
22.7%
23.3%
17.6%
Built 1960 to 1969
19.8%
19.5%
13.4%
Built 1950 to 1959
10.9%
13.0%
13.4%
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-106
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Year Built
City of Newport Beach
County of Orange
California
Built 1940 to 1949
3.6%
2.1%
5.9%
Built 1939 or earlier
4.1%
2.5%
9.1%
Source: American Community Survey, 5-Year Estimates, 2019.
Substandard units are those in need of repair or replacement. Based on 2019 ACS data, one (1) percent
of housing units in Newport Beach display substandard conditions. Approximately .03 percent of housing
units lack complete plumbing facilities and .08 percent lack complete kitchen facilities. Based on this data,
at a minimum 377 units (1 percent) within Newport Beach are substandard and in need of rehabilitation.
In the Orange County Area, 1.5 percent of homes are considered substandard, lacking complete kitchen
or plumbing facilities. The current distribution of the age of homes in Newport Beach also indicates that
a majority of homes in the City were built prior to the 1990 Americans with Disabilities Act (ADA), which
may result in a lack of accessible homes for those residents experiencing a disability. The City's older
housing stock also reflects a rapidly gaining need to rehabilitate housing to meet minimum livability and
quality requirements, which is a barrier to many homeowners and residents in Newport who have a lower
income or a fixed income. However, the City of Newport Beach is moderate and above moderate income,
therefore, substandard housing and units in need of rehabilitation may be passed on to renters with
moderate to lower incomes.
Displacement Risk
The potential for economic displacement risk can result from a variety of factors, including large-scale
development activity, neighborhood reinvestment, infrastructure investments, and changes in local and
regional employment opportunity. Economic displacement can be an inadvertent result of public and
private investment, where individuals and families may not be able to keep pace with increased property
values and market rental rates.
Urban Displacement
The Urban Displacement Project developed a neighborhood change database to map neighborhood
transformations and identify areas vulnerable to gentrification and displacement. This data was
developed to assist local decision makers and stakeholders better plan for existing communities and
provide additional resources to areas in need or at -risk of displacement and gentrification. Table 3-30
provides the criteria used to identify each displacement typology and the total number of Newport Beach
Census Tracts that currently fall within each category.
Table 3-30: Displacement Typology Criteria and Newport Beach Census Tracts
Newport Beach Census
Modified Types and Criteria
Tracts
Low-Income/Susceptible to Displacement
None
• Low or mixed low-income tract in 2018.
Ongoing Displacement of Low -Income Households
• Low or mixed low-income tract in 2018.
None
• Absolute loss of low-income households, 2000-2018.
At Risk of Gentrification
None
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-107
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Newport Beach Census
Modified Types and Criteria
Tracts
• Low or mixed low-income tract in 2018.
• Housing affordable to low or mixed low-income households in 2018.
• Didn't gentrify 1990-2000 OR 2000-2018.
• Marginal change in housing costs OR Zillow home or rental value
increases in the 90th percentile between 2012-2018.
• Local and nearby increases in rent were greater than the regional
median between 2012-2018 OR the 2018 rent gap is greater than the
regional median rent gap.
Early/Ongoing Gentrification
Low or mixed low-income tract in 2018.
• Housing affordable to moderate or mixed moderate -income
households in 2018.
None
• Increase or rapid increase in housing costs OR above regional median
change in Zillow home or rental values between 2-12-2018.
- Gentrified in 1990-2000 or 2000-2018.
Advanced Gentrification
• Moderate, mixed moderate, mixed high, or high -income tract in
2018.
• Housing affordable to middle, high, mixed moderate, and mixed
None
high -income households in 2018.
• Marginal change, increase, or rapid increase in housing costs.
• Gentrified in 1990-2000 or 2000-2018.
Stable Moderate/Mixed Income
• Moderate, mixed moderate, mixed high, or high -income traact in
None
2018.
At Risk of Becoming Exclusive
• Moderate, mixed moderate, mixed high, or high -income traact in
2018.
None
• Housing affordable to middle, high, mixed moderate, and mixed high -
income households in 2018.
• Marginal change or increase in housing costs.
Becoming Exclusive
• Moderate, mixed moderate, mixed high, or high -income traact in
2018.
• Housing affordable to middle, high, mixed moderate, and mixed high -
income households in 2018.
None
• Rapid increase in housing costs.
• Absolute loss of low-income households, 2000-2018.
• Declining low-income in -migration rate, 2012-2018.
• Median income higher in 2018 than in 2000.
Stable/Advanced Exclusive
6059062604
6059063500
• High -income tract in 2000 and 2018
6059062643
6059062900
• Affordable to high or mixed high -income households in 2018.
6059062702
6059063400
• Marginal change, increase, or rapid increase in housing costs.
6059062800
6059063302
6059062645
6059063009
6059062642
6059062612
6059062644
6059062630
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-108
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
b
Newport Beach Census
Modified Types and Criteria
Tracts
6059063008
6059062631
6059063007
6059062629
6059063004
6059063103
6059063006
High Student Population
None
Source: Urban Displacement Project, University of California Berkeley (2021).
Table 3-30 and Figure 3-22 show that all of Newport Beach is considered stable/advanced exclusive.
Stable advanced exlusive means the households in the census tracts have high and above moderate
incomes and that there is either little change in the cost of housing or rapid increases. Stable exclusive
areas also means that it is very difficult for lower and moderate income hosueholds to partake in the
housing market through ownership, and there is little mobility and fewer options in terms of rentership.
The City of Newport Beach is one of the highest income cities in the County, consistent with income data
for many coastal cities in Southern California, particularly Orange County. Paired with high costs of land
and increasing costs of contruction materials and labor, the housing market and cost of housing in
Newport Beah will likely contiue to increase. Affordable housing through density bonus and partnerhsip
with affordable developers is the key way to increase housing equity in Newport Beach. Additionally, the
creation of accessory dwelling units can provide less costly housing opportunities within the City that
would be available to a broader demographic.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-109
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
q Sys
Figure 3-22: Urban Displacement Typologies, Newport Beach
r Westrninster
SANTA AN
T�Skiri'
No
Fou-ntairs Valley
.r UNTINCION
i
Displacement lypoIogy
Lour-IncomelSusceptible to Displacement
Ongoing Displacement
At Risk of Gentrification
EarlylOngoing Gentrification
Advanced Gentrification
Stable Moderate/Mixed Income
At Risk of Becoming Exclusive
Becoming Exclusive
StablelAdvanced Exclusive
High Student Population
Unavailable or Unreliable Data
I RVJ N E ,.
_.M
LAG U
Source: Urban Displacement Project University of California Berkeley (2021).
� fi
El
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-110
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table 3-31 below identifies the assisted and affordable housing units within the City of Newport Beach
and identifies the end date of each covenant. According to the table, 4 locations (with a total of 112 units)
were up for renewal in the previous planning period (2014-2021). Additionally, 3 locations, with a total of
45 units are set to expire and be addressed for renewal over the next planning period (2021-2029).
The City of Newport Beach is committed to working with property owners and utilizing appropriate funds,
as available, to review covenants set to expire for renewal.
Table 3-31: Citv of Newport Beach Assisted (and Affordable) Housing Summary
Project Name/ Location
Type of Assistance Received
Earliest Possible
Number of
Date of Change
Units/Type
Section 8 (rental assistance vouchers)
Newport Harbor Apartments
Density Bonus
1538 Placentia Avenue
Community Development Block
2020
26 Low -Income
Grant (CDBG)
Newport Harbor II Apartments
Section 8 Density Bonus CDBG
10 Low -Income
1530 Placentia Avenue
In -Lieu Fee Funds
2023
4 Very Low -Income
Newport Seacrest Apartments
Section 8 CDBG
20 Very Low -Income
843 15th Street
Fee Waivers Tax Credit Financing
2016
45 Low -Income
Pacific Heights Apartments 881-
887 W. 15th Street
Section 8 Density Bonus
2019
7Loty-Income
Newport Seashore Apartments
849 West 15th Street
Section 8 Fee Waivers
2018
15 Low -Income
Newport Seaside Apartment
Section 8 CDBG
1544 Placentia
Fee Waivers
2017
25 Very Low -Income
100 Extremely Low
Seaview Lutheran Plaza (Seniors)
Section 202 (federal grant)
2039
and Very Low —
2800 Pacific View Drive
Section 8
Income Senior
Villa del Este
2 Moderate -Income
401 Seaward Road
—
2026
(ownership)
3 Moderate -Income
Villa Siena 2101 15th Street
Density Bonus
2021
(ownership)
Bayview Landing (Seniors) 1121
In -lieu Fee Funds Fee Waivers
24 Very Low
Back Bay Drive
Tax Credit Financing
2056
95 Low -Income
Cost of Replacement Analysis
In general, the cost for new land in the City cost about $115/square foot, per market research (noted in
Section 3.A.1). The actual construction cost for residential development ranges from $118/square foot up
to $131/square foot. The total replacement cost for the at -risk units identified in Table 3-31 are
summarized below
• The cost for replacing the 65-unit Newport Seacrest Apartments would total more than
$12,499,600. This cost assumes that 1.5 acres of land will be required, and each unit will have a
total floor area of 650 square feet (1-bedroom units). The land cost will be approximately
$7,514,100 (assuming $115/square foot) while the construction cost will be approximately
$4,985,500 (assuming $118/square foot for a 650-square foot unit= $76,700/unit).
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-111
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
• The cost of replacing the 7-units in the Pacific Heights Apartments would total more than
$1,789,550. This cost assumes that 0.25 acres of land will be required, and each unit will have a
total floor area of 650 square feet (1- bedroom). The land cost will be approximately $1,252,350
(assuming $115/square foot) while the construction cost will be approximately $536,900
(assuming $118/square foot for a 650-square foot unit=$76,700/unit).
• The cost of replacing the 15 units in Newport Seashore Apartments would total more than
$3,655,200. This cost assumes that 0.5 acres of land (average 650 square feet per dwelling unit)
will be required and each unit will have a total floor area of 650 square feet (1-bedroom units).
The land cost will be approximately $2,504,700 (assuming $115/square foot) while the
construction cost will be approximately $1,150,500 (assuming $118/square foot for a 650-square
foot unit= $76,700/unit).
• The cost of replacing the 25 units in Newport Seaside Apartments would total more than
$4,422,200. This cost assumes that .5 acres of land (average 650 square feet per dwelling unit)
will be required and each unit will have a total floor area of 650 square feet (1-bedroom units).
The land cost will be approximately $2,504,700 (assuming $115/square foot) while the
construction cost will be approximately $1,917,500 (assuming $118/square foot for a 650-square
foot unit= $76,700/unit).
• The cost of replacing the 5 units for ownership in Villa del Este and Villa Siena developments would
total more than $1,809,100. This cost assumes that 0.25 acres of land (average 850 square feet
per dwelling unit) will be required and each unit will have a total floor area of 850 square feet
(2-bedroom units). The land cost will be approximately $1,252,350 (assuming $115/square foot)
while the construction cost will be approximately $556,750 (assuming $131/square foot for an
850-square foot unit= $111,350/unit).
To address the risk of affordable units converting to market rate housing, the City has identified Programs
5A and 5C to monitor these units. The City will actively work to create programs and seek additional
funding in which the focus is to preserve these units beyond the expiration of the covenant so that the
owners are able to have affordable housing options.
Resources to Preserve At -Risk Units
A variety of programs exist to help cities acquire, replace, or subsidize at -risk affordable housing units.
The following summarizes financial resources available:
• Community Development Block Grant (CDBG) — CDBG funds are awarded to cities on a formula
basis for housing activities. The primary objective of the CDBG program is the development of
viable communities through the provision of decent housing, a suitable living environment and
economic opportunity for principally low- and moderate -income persons. Eligible activities
include administration, fair housing, energy conservation and renewable energy sources,
assistance for economic development, public facilities and improvements and public services.
• HOME Investment Partnership — Local jurisdiction can receive funds by formula from the
Department of Housing and Urban Development (HUD) to increase the supply of decent, safe,
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-112
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
sanitary, and affordable housing to lower income households. Eligible activities include housing
acquisition, rehabilitation, and development, homebuyer assistance, and rental assistance.
• Section 8 Rental Assistance Program — The Section 8 Rental Assistance Program provides rental
assistance payments to owners of private, market rate units on behalf of very low-income tenants,
senior citizens, disabled and/or handicapped persons, and other individuals for securing
affordable housing.
• Section 202/811 Program — Non-profit and consumer cooperatives can receive no -interest capital
advances from HUD under the Section 202 program for the construction of very low-income rental
housing with the availability of supportive services for seniors and persons with disabilities. These
funds can be used in conjunction with Section 811, which can be used to develop group homes,
independent living facilities and immediate care facilities. The capital advance funding can also
provide project rental assistance for the properties developed using the funds. Eligible activities
include acquisition, rehabilitation, new construction, and rental assistance.
• California Housing Finance Agency (CaIHFA) Multifamily Programs — CaIHFA's Multifamily
Programs provide permanent financing for the acquisition, rehabilitation, and preservation or
new construction of rental housing that includes affordable rents for low- and moderate -income
families and individuals. One of the programs is the Preservation Loan program which provides
acquisition/rehabilitation and permanent loan financing designed to preserve or increase the
affordability status of existing multifamily housing projects.
• Low -Income Housing Tax Credit (LIHTC) — This program provides tax credits to individuals and
corporations that invest in low-income rental housing. Tax credits are sold to those with high tax
liability and proceeds are used to create housing. Eligible activities include new construction,
rehabilitation, and acquisition of properties.
• California Community Reinvestment Corporation (CCRC) — The California Community
Reinvestment Corporation is a multifamily affordable housing lender whose mission is to increase
the availability of affordable housing for low-income families, seniors, and residents with special
needs by facilitating private capital flow from its investors for debt and equity to developers of
affordable housing. Eligible activities include new construction, rehabilitation, and acquisition of
properties.
Qualified Entities to Preserve At -Risk Units
The following organizations may potentially assist in preserving future at -risk units:
• Jamboree Housing Corporation
• Irvine Housing Opportunities, Inc.
• Bridge Housing Corporation
• The Irvine Company
• Orange County Housing Authority
• Housing Corporation of America
• Southern California Housing Development Corporation
• Century Housing
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-113
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Quantified Objectives
Housing Element law requires that cities establish the maximum number of units that can be preserved
over the planning period. The City's objective it to preserve the 52 affordable housing units "at -risk" of
converting to market rate through policy programs provided in Section 4.
Urban Disnlacement Analvsis
The UC Berkeley Urban Displacement projects provides a database for Los Angeles, Orange and San Diego
Counties displaying gentrifications and socioeconomic indicators based on 2015 ACS data. The final (2018)
version of the database shows whether each Census tract comprising these three Southern California
counties gentrified between 1990 and 2000; gentrified between 2000 and 2015; gentrified during both of
these periods; or exhibited characteristics of a "disadvantaged" tract that did not gentrify between 1990
and 2015. The outcome of the data is a map which displays displacement typology by census tract
(outlined below).
Low Income/Susceptible to
• Low or mixed low-income tract in 2018
Displacement:
Ongoing Displacement of
• Low or mixed low-income tract in 2018
Low -Income Households:
• Absolute loss of low-income households, 2000-2018
• Low-income or mixed low-income tract in 2018
• Housing affordable to low or mixed low-income households in
2018
• Didn't gentrify 1990-2000 OR 2000-2018
At Risk of Gentrification:
• Marginal change in housing costs OR Zillow home or rental
value increases in the 90th percentile between 2012-2018
• Local and nearby increases in rent were greater than the
regional median between 2012-2018 OR the 2018 rent gap is
greater than the regional median rent gap
• Low-income or mixed low-income tract in 2018
• Housing affordable to moderate or mixed moderate -income
households in 2018
Early/Ongoing Gentrification:
• Increase or rapid increase in housing costs OR above regional
median change in Zillow home or rental values between 2012-
2018
• Gentrified in 1990-2000 or 2000-2018
• Moderate, mixed moderate, mixed high, or high -income tract in
2018
• Housing affordable to middle, high, mixed moderate, and mixed
Advanced Gentrification
highs income households in 2018
• Marginal change, increase, or rapid increase in housing costs
• Gentrified in 1990-2000 or 2000-2018
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-114
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Stable Moderate/Mixed
• Moderate, mixed moderate, mixed high, or high -income tract in
Income:
2018
• Moderate, mixed moderate, mixed high, or high -income tract in
2018
Risk of Becoming Exclusive:
• Housing affordable to middle, high, mixed moderate, and mixed
highs income households in 2018
• Marginal change or increase in housing costs
• Moderate, mixed moderate, mixed high, or high -income tract in
2018
• Housing affordable to middle, high, mixed moderate, and mixed
highs income households in 2018
Becoming Exclusive:
. Rapid increase in housing costs
• Absolute loss of low-income households, 2000-2018
• Declining low-income in -migration rate, 2012-2018
• Median income higher in 2018 than in 2000
• High -income tract in 2000 and 2018
Stable/Advanced Exclusive:
• Affordable to high or mixed high -income households in 2018
• Marginal change, increase, or rapid increase in housing costs
Figure 3-23 below displays the mapped displacement typology for Newport Beach. The data shows that
nearly all of Newport Beach is considered Stable/Advanced Exclusive, furthering previous conclusions that
the City is an overall high income and high -cost City to live in.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-115
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Figure 3-23: Displacement Risk, Newport Beach
Hawtharno ri
NgPVdALif
C�mpt r' Yot,3 Lind-
Lt CORONA
FULLERTON
TORRANCE RSON ANAHIEIM
LONE;'BEACH Temescal Valley
Westminster
�SANTA iiNl�
�i
Fountalrs�Vall��y _
HUNTINGTO., �IRVINE
H EAC H
_31,e I cl"Est -
NIISS1 N VIL.JO
alis vle n
AGUNA BEACH
Lagin3 NiQuej -
Displacement Typology
_ove-Income!Susceptible to Gisplacelrent
Ongoing Displacement
At Risk of Gentrification
EarlylOngoing Gentrification
Advanced Gentnfication
Stable ModeratelMixed Income
At Risk of Becoming Exclusive
9ecoming Exclusive
Stable/Advanced Exclusive
-iigh Student Population
Jnavailable or Unre€fable Data
Source: UC Berkeley, Urban Displacement Project, "Mapping Neighborhood Change in Southern California. "Accessed November 4, 2021
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-116
(September 2022 Final Housing Element)
City of Newport Beach - �—
2021-2029 HOUSING ELEMENT
,B 330
Effective January 1, 2020, Senate Bill 330 (SB 330) aims to increase residential unit development, protect
existing housing inventory, and expedite permit processing. Under this legislation, municipal and county
agencies are restricted in ordinances and policies that can be applied to residential development. The
revised definition of "Housing Development" now contains residential projects of two or more units,
mixed -use projects (with two-thirds of the floor area designated for residential use), transitional,
supportive, and emergency housing projects. SB330 sets a temporary 5-year prohibition of residential
density reduction associated with a "housing development project," from January 1, 2020, to
January 1, 2025. For example, during this temporary prohibition, a residential triplex cannot be
demolished and replaced with a duplex as this would be a net loss of one unit.
None of the housing strategy sites contain significant existing housing with low-income tenants who will
be displaced if the sites redevelop. To the extent that there is existing housing, all housing must be
replaced (Government Code Section 66300).
The City of Newport Beach has developed an informative webpage on SB 330 available for the public. The
State has also adopted just cause eviction provisions and statewide rent control to protect tenants from
displacement. The City is committed to making diligent efforts to engage underrepresented and
disadvantaged communities in studying displacement.
Assessment of Contributing Factors to Fair Housing Issues in Newport
Beach
The Al identifies the following regional goals for mitigating impediments to fair housing within jurisdictions
in Orange County:
• Goal 1: Increase the supply of affordable housing in high opportunity areas.1
• Goal 2: Prevent displacement of low- and moderate -income residents with protected
characteristics, including Hispanic residents, Vietnamese residents, other seniors, and people with
disabilities
• Goal 3: Increase community integration for persons with disabilities.
• Goal 4: Ensure equal access to housing for persons with protected characteristics, who are
disproportionately likely to be lower -income and to experience homelessness.
• Goal 5: Expand access to opportunity for protected classes.
Summary of Fair Housing Analysis
The Housing Element programs incorporate these recommended goals as they relate to Newport Beach.
The analysis above regarding other fair housing issues within Newport Beach yields the following results:
• The City does not have any racial or ethnic groups that score higher than 60 on the dissimilarity
index. However, those who identify as Native Hawaiian, Asian, American Indian, Black and Some
Other Race experience moderate levels of segregation (a dissimilarity index of greater than 30).
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-117
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
While there are no groups experience high segregation, the City should focus on the needs and
targeted outreach to the populations experiencing moderate segregation.
• The City does not have any racially or ethnically concentrated census tracts (R/ECAPs) as identified
by HUD. This indicates that there are no census tracts within Newport Beach with a non -white
population of 50 percent or more or any census tracts that have a poverty rate that exceeds 40%
or is three or more times the average tract poverty rate for the metropolitan/micropolitan area.
However, one R/ECAP was identified in the neighboring city of Irvine, near the University of
California Irvine. This will be considered in the housing plan as students within the R/ECAP may
look for housing in Newport Beach.
• The UC Davis Regional Opportunity Index shows that the majority of residents within Newport
Beach have a high level of access to opportunity throughout the majority of the City, with only
two census tracts showing a moderate level of access to opportunity. No census tracts were
shown as having the lowest level of access to opportunity. The City should focus on increasing
resources, housing opportunity and encourage economic development in these areas.
• The analysis of the TCAC/HCD opportunity Area Maps show that most census tracts in Newport
Beach are classified with the "Moderate Resource" "High Resource" or "Highest Resource"
designation. This indicates that these census tracts are within the top forty percent in the region
in terms of areas that lower -income residents may thrive if given the opportunity to live there. All
but two census tracts within Newport Beach register within the top 20 percent in the index. One
census tract registered as a "Low Resource" area, citing high economic opportunity and low
educational opportunity.
The Opportunity Indices identify overall high access to quality resources including economic and job
proximity, educational access, and transportation access. However, there is a low health index, indicating
increased pollution and low environmental quality across all racial/ethnic groups in the City. Additionally,
the opportunity indices identify low affordable transportation options to both the Asian or Pacific Islander
(Non -Hispanic) and Native American (Non -Hispanic).
Key Findings from Fair Housing Analysis
As a part of the Housing Element, the City considers protected class (such as race, ethnicity, income, etc.)
and opportunity indicators as key factors in fair housing. Federal, state, and local data provide regional
context, background information and supportive data which helps the City to understand fair housing
issues and to identify key fair housing factors for Newport Beach. The section below uses available data
to identify key trends and local contributing factors for fair housing, key themes identified through this
analysis are stated below:
• Persons who identify as Native Hawaiian or Other experience the moderate levels of segregation
with persons who identify as White in the City of Newport Beach.
• The City has twelve census tracts characterized as Racially Concentrated Areas of Affluence
(RCCA) and no R/ECAPs.
• Residents of Newport Beach are more likely to experience high housing cost burden as
homeowners.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-118
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
• Persons who earn incomes below the poverty rate are more likely to have lower access to
opportunities as indicated by the Opportunity Indices analysis.
Local Contributing Factors to Fair Housing
There are a number of factors and elements that contribute to and cause fair housing issues. The following
lists a number of contributing factors within the City of Newport Beach:
• Opportunities for Persons with Disabilities —The analysis shows disability and access as possible
fair housing issues in Newport Beach. In comparison to Figure D-14, the City shows a moderate
portion of residents report at least one disability (10 percent) as well as some census tracts
reporting 10-20 percent having a disability. While the City is considered a high opportunity area,
residents with disabilities may have lower access to resources and information. Housing Goals #3:
Increase community integration for persons with disabilities, Housing Goal #4: Ensure equal
access to housing for persons with protected characteristics, who are disproportionately likely to
be lower -income and to experience homelessness, and Housing Goal #5: Expand access to
opportunity for protected classes.
• Expansion of Opportunities in Lower Resource Areas — While the City of Newport Beach is
considered a moderate to high resource region, some parts of the City are characterized as lower
opportunity zones as depicted in Figure 3-6. When compared to the CalEnviroScreen map in
Figure 3-13, the low resource areas align with regions identified at the highest degree of pollution
burdens. Various Housing Programs have been adopted to ensure opportunities for residents in
low opportunity areas. Housing Goal #5: Expand access to opportunity for protected classes.
4. Analysis of Sites Pursuant to AB 686
AB 686 requires that jurisdictions identify sites throughout the community in a manner that is consistent
with its duty to affirmatively further fair housing. The site identification requirement involves not only an
analysis of site capacity to accommodate the RHNA (provided in Appendix B), but also whether the
identified sites serve the purpose of replacing segregated living patterns with truly integrated and
balanced living patterns, transforming racially and ethnically concentrated areas of poverty into areas of
opportunity.
Figures 3-24 through 3-26 below identify the sites to accommodate future housing, as identified in the
adequate sites analysis, overlaid on demographic data using the 2018 American Community Survey 5-year
Estimates.
• Figure 3-24 — Newport Beach Proposed RHNA Sites, Hispanic/Latino, 2019
• Figure 3-25 — Newport Beach Proposed RHNA Sites, Non -White Population 2019
• Figure 3-26— Newport Beach Proposed RHNA Sites, Low and Moderate -Income, 2019
Figure 3-24 shows the proposed candidate sites to meet the RHNA for Newport Beach in relation to the
location of residents of Hispanic origin. These sites take into consideration access to vital goods, services,
and public transportation and are therefore ideal areas for the City to focus much of its future housing
growth. It is anticipated that accessory dwelling unit (ADU) growth, including growth for affordable ADUs,
will occur in the less dense areas of the community. Figure 3-24 shows the following findings:
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-119
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
• 291 proposed sites to accommodate the RHNA allocation (totaling 20,999 potential units, or 94%
of the total potential units) are located within block groups that have a percentage of the
population that identifies as Hispanic below 20 percent.
• 3 proposed sites to accommodate the RHNA allocation (totaling 153 potential units, or 1% of the
total potential units) are located within block groups that have a percentage of the population
that identifies as Hispanic between 20 and 40 percent.
• 17 proposed sites to accommodate the RHNA allocation (totaling 920 potential units, or 4% of the
total potential units) are located within block groups that have a percentage of the population
that identifies as Hispanic between 40 and 60 percent.
• 2 proposed sites to accommodate the RHNA allocation (totaling 188 potential units, or 1% of the
total potential units) are located within block groups that have a percentage of the population
that identifies as Hispanic between 60 and 80 percent.
The data shows that the proposed candidate sites to meet the very low and low-income RHNA allocation
are evenly dispersed throughout the community with an emphasis on locating units where there is a high
level of access to important public services and transit. The distribution of potential units does not
disproportionately impact areas with larger concentrations of the Hispanic population.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-120
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Figure 3-24: Newport Beach Proposed RHNA Sites, Hispanic/Latino, 2018
.4°
tr
COASiHWYW
A& Miles
NORTH o 2
Sources: American Community Survey, HUD Exchange:
City of Newport Beach
Newport AFFH
* Site Candidates (Low/Very Low)
* Site Candidates (Moderate/Above Moderate)
0 City Boundary
Percent Hispanic Population
2018 ACS (5-Year)
Py
0% - 20%
v 201-40%
40% - 60%
�0 60%-80%
� WW
n80%
1 �/ * FOAO flD ;VY '0 `f
l
6�N I
s
°gY.r�oA � SPN, AnWufy J �J -\
SAN IpAQUIN HMS FD-'-- _ --
X
",..
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-121
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Figure 3-25 shows the proposed candidate sites to meet the RHNA for Newport Beach in relation with
census data showing the percentage of the population within each block group that is Non -white.
Figure 3-25 shows the following findings:
• 156 proposed sites to accommodate the RHNA allocation (totaling 9,867 potential units, or 44%
of the total potential units) are located within block groups that have a percentage of the
population that identifies as Non -White less than 20 percent.
• 46 proposed sites to accommodate the RHNA allocation (totaling 3,166 potential units, or 14% of
the total potential units) are located within block groups that have a percentage of the population
that identifies as Non -White between 20 and 40 percent.
• 109 proposed sites to accommodate the RHNA allocation (totaling 9,039 potential units, or 41%
of the total potential units) are located within block groups that have a percentage of the
population that identifies as Non -White between 40 and 60 percent.
• 2 proposed sites to accommodate the RHNA allocation (totaling 188 potential units, or 1% of the
total potential units) are located within block groups that have a percentage of the population
that identifies as Non -White between 60 and 80 percent.
The data shows that the proposed candidate sites to meet the very low and low-income RHNA allocation
are evenly dispersed throughout the community with an emphasis on locating units where there is a high
level of access to important public services and transit. The distribution of potential units does not
disproportionately impact areas with larger concentrations of Non -white populations.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-122
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT'
r
Figure 3-25: Candidate Sites — Non -White Analysis
73
Ej
Newport AFFH
* Site Candidates (Low/Very Low)
* 51te Candidates (Moderate/Above Moderate)
Q City Boundary
Percent Non -White Population
2018 ACS (5-Year)
< 20
A
20%-40%
❑� j -- - 40%-60%
Q --1 60%-80%
> 80%
�/� � oisaN avr
*
9
E
A 9ry
sa+u�cwQurmHrusao _ __
a
E
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Figure 3-26 shows location of proposed candidate sites to meet the RHNA for Newport Beach in
comparison with census data showing the percentage of the population within each block group who is
categorized as low-income or moderate by the American Community Survey. Figure 3-26 shows the
following findings:
• 1 proposed site to accommodate the RHNA allocation (totaling 1,046 potential units, or 5% of the
total potential units) are located within block groups that have a percentage of the population
that identifies as low -and -moderate -income less than 10.
• 54 proposed sites to accommodate the RHNA allocation (totaling 922 potential units, or 4% of the
total potential units) are located within block groups that have a percentage of the population
that identifies as low -and moderate -income between 10 and 25 percent.
• 212 proposed sites to accommodate the RHNA allocation (totaling 16,784 potential units, or 76%
of the total potential units) are located within block groups that have a percentage of the
population that identifies as low -and moderate -income between 25 and 50 percent.
• 44 proposed sites to accommodate the RHNA allocation (totaling 3,320 potential units, or 15% of
the total potential units) are located within block groups that have a percentage of the population
that identifies as low -and moderate -income between 50 and 75 percent.
• 2 proposed sites to accommodate the RHNA allocation (totaling 188 potential units, or 1% of the
total potential units) are located within block groups that have a percentage of the population
that identifies as low -and moderate -income greater than 75 percent.
The data shows that the proposed candidate sites to meet the very low and low-income RHNA allocation
are evenly dispersed throughout the community with an emphasis on locating units where there is a high
level of access to important public services and transit. The distribution of potential units provides
increased opportunities for low-income housing in areas with higher rates of low-income persons.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-124
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Figure 3-26: Candidate Sites — Low/Moderate-Income Block Group Analysis
�o
rg
P
9
�O
l�
I
0
s
aisnNnvF
Z
a
,p a �UN9
001
�d a
Newport AFFH
t4 Site Candidates (Low/Very Low)
Site Candidates (Moderate/Above Moderate)
Q City Boundary
Percent Low- and Moderate Income Population
2015 ACS (5-Year)
< 10%
101/-251/
25% - 50%
50% - 75%
>75%
00 Ilk*
,
mAs Nwr
PF,Fe
�
iqS/OFF
R
5•\N�GJ�-
W�
SAN,'OAOlIfN HfCLS RIJ
9
N
T�
fF
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-125
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
The concentration of low- and very low-income sites located in the northern, western, and central areas
of the City as depicted in Figures 3-24 through 3-26 above, are designated to include units at mixed income
levels that would provide housing opportunity for both lower income households and moderate to above
moderate -income households. Thus, the concentrations of low- and very low-income sites located in the
northern, western, and central areas of the City would not exacerbate the current conditions in these
areas.
Analysis of Exacerbating Current Conditions
Through the City's sites analysis, which was conducted in compliance with the requirements of AB 1398,
sites were selected to consider the following:
• Minimize over concentrations of affordable housing in one geographical area;
• Encouraging and expanding opportunities for mixed -income development; and
• Expanding mixed use, infill opportunities in areas adjacent to services and amenities
The Airport Area and West Newport Area have been identified with a larger concentration of lower -
income opportunities. These sites will help encourage mixed -income development and will expand
opportunity in some of the City's highest resource areas proximate to jobs.
The Airport Area has a higher amount of existing affordable units that were constructed in conjunction
with market -rate development projects and through the implementation of density bonus incentives and
past inclusionary housing. Due to high land costs citywide, there are no opportunities to feasibly construct
lower -income development unless they are in conjunction with larger scale market rate projects and
would not have otherwise existed in this area. While the Airport Area scores in the 43rd percentile related
to pollution burden according to OEHHA's California Communities Environmental Health Screening Tool,
this is primarily due to transportation and air quality impacts given the proximity to John Wayne Airport.
It is not related to majority polluting industries or other point sources. The area is experiencing a transition
from low -scale, office/industrial uses to higher density, urban mixed -use development, as evidenced by
the multiple project examples presented in Appendix B.
The Airport Area is also identified in the General Plan Recreation Element as deficient in park acreage. The
Land Use Element currently provides policies for the dedication and improvement of neighborhood parks
within future residential or mixed -use development. Three recently entitled projects have been required
to dedicate and improve parks for future residents and the broader community (i.e., Uptown Newport,
Newport Crossings, and the Residences at 4400 Von Karman). Continued implementation of these policies
will further assist in the provision of necessary park spaces thereby improving access recreation and open
space areas to enhance the livability of the area.
For the Airport Area, Policy Actions 1A and 4.1 require new development standards that will further
enhance the City's ability to establish quality mixed -income communities
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-126
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
while helping to mitigate and/or avoid possible environmental considerations in the area. Examples
include feasible and appropriate noise mitigation and possibly enhanced airfiltration systems for buildings
to reduce exposure of future resident to these environmental factors.
The West Newport Area contains most the City's mobile home parks and, thus, has long provided
opportunities for affordable housing. It also has the largest industrial use area with several manufacturing
uses concentrated in a smaller area. Industrial uses can be associated with increased noise and or
pollution. Based on consultation with the City's Code Enforcement Division, there have been no recent
complaints from residential uses regarding noise in this area. Air and ground pollutants are largely
monitored and regulated by the South Coast Air Quality Management District (SCAQMD), as well as the
Department of Toxic Substances Control (DTSC). The SCAQMD and DTSC began closely monitoring the
emissions of a single operator in the West Newport Area between 2008 and 2015. The operator has
implemented measures to reduce emissions to appropriate standards by installing a vapor extraction
system as well as exhaust treatment equipment. The City has served as a coordinating partner in this
effort and continues to assist in any inquiries related to pollutants in the area. Policy Action 4K is included
in Section 4 to ensure the City continues to monitor industrial users while striving to improve the
environmental score for the area.
Although there is a concentration of industrial type uses in this area, it has long been viewed as an
opportunity area for redevelopment. While there is currently a temporary City -run community center in
the area, the City continues to pursue the siting and development of a permanent community center. In
2015, the City approved the Ebb Tide Residential Project, an 81-unit condominium community. In 2016,
the City Council adopted the West Newport Mesa Streetscape Master Plan, which includes streetscape
improvements that are required as part of private development projects and improvements that could be
implemented as part of the City's Capital Improvements Program (CIP). The Ebb Tide Residential Project
was the first private project to implement components of the West Newport Mesa Streetscape Master
Plan. Future redevelopment projects will also be required to implement streetscape improvements that
will foster an enhanced and safer environment for workers and residents.
As the area transitions to a more urban, dense environment, it is important to include affordable housing
opportunity sites to help preserve current affordable housing opportunities while serving to expand
economic growth potential. In addition, there is an opportunity for workforce housing with the proximity
of Hoag Hospital, one of Newport Beach's biggest employers. The West Newport area has experienced
recent trends toward infill, mixed -income development that will continue in a high resource area. Policy
Action 4K has a consideration to include residential -serving commercial as part of the rezoning program
(Policy 1B) to allow flexibility beyond the underlying industrial zoning limits, which will allow new
commercial uses that are more supportive of current and future residents as well as workers in the area.
Also notable, the West Newport Area is home to several education institutions such as Pacifica Christian
High School, Coastline Community College, and Carden Hall. The City has seen recent reinvestment from
the schools, which further demonstrates an improving neighborhood condition that shifts away from
industrial to more mixed -use and mixed -income development.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-127
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Relevant to the West Newport Mesa Area, Policy Action 5D provides for the protection of mobile home
opportunities. Policy Action 113 states provisions to include development standards, overlay text and
entitlement procedures to encourage the development of housing for persons of very low and low
incomes. In developing the overlay, or similar rezone strategy, the City will evaluate the potential to
include a variety of incentive tools as appropriate, including but not limited to floor area bonus, density
bonus, entitlement streamlining, fee waivers or reductions and other considerations. The intent in these
incentive tools is to further opportunity for mixed -income developments in these areas.
Lastly, to ensure that these conditions are not exacerbated during the planning period, the City is
introducing an inclusionary requirement (Policy 1K) that would further support mixed -use and mixed -
income developments and provide additional incentives to increase lower-, moderate- and above
moderate -income development in these areas.
Racially and Ethnically Concentrated Areas of Poverty and Affluence
The HUD R/ECAP maps do not identify any racially or ethnically concentrated areas of poverty in Newport
Beach. The analysis conducted for this housing element concluded that there are approximately 12 census
tracts that are considered racially concentrated areas of affluence (RCAA) in the City. The RCAA areas are
clustered throughout the City predominately in the east and along the southern and western boundaries
of the City. The concentrations of lower income households located in the northern, western, and central
areas of the City are in high income areas surrounded by RCAAs. The location of these area provides
affordable housing opportunities within areas with high access to resources.
I ccess to Onnortunity
The majority of the City is considered highest resource according to the TCAC Opportunity Map composite
score. The majority of the sites identified in the sites inventory are located in the highest resource areas
which will give households access to more opportunities and resources.
Transit
According to AIITransit the City of Newport Beach has a low transit performance score overall. The City
has identified a significant number of low- and very low-income housing opportunity sites in the Airport
Area Environs in the north, the West Newport Mesa Area in the west, and the Newport Center Area in the
central area of the City. These three areas of the City have high connectivity scores compared to other
areas throughout the City. Households within these areas have better access to jobs and key destinations
through transit than those located elsewhere in the City. The majority of the low- and very low-income
sites were strategically located within the Airport Area Environs, West Newport Mesa Area, and the
Newport Center Area to take advantage of the increased transportation assets within these areas.
Environmental
OEHHA's California Communities Environmental Health Screening Tool considers the City of Newport
Beach as having a primarily low pollution burden through the entire City. There are concentrations of low -
and very low-income sites located in the northern, western, and central areas of the City which have low
to moderate pollution burdens. The Northern area, identified as Airport Area Environs, has the highest
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-128
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
pollution burden scoring in the 43rd percentile due to high exposure scores from traffic related pollutants.
The northern area was selected to accommodate a number of housing opportunity sites due to its higher
access to transit amenities and reduced, but high land values.
Disproportionate Housing Needs
Disability
The City of Newport Beach has a fairly low disabled population. With a higher representation of persons
with disabilities located throughout the greater central area of the City. The sites inventory has identified
a concentration of low- and very low-income sites located in the Newport Center Area. The placement of
these sites was strategically located to increase affordable housing opportunities where persons with
disabilities are already present as well as where there are nearby service amenities which can provide
increased housing security for the City's disabled population.
Income
The majority of the City has low rates of populations categorized as low- to moderate -income. The
northern, western, and central areas of the City have higher rates of residents considered to be low- to
moderate -income. The sites inventory predominately concentrates low- and very low-income sites within
the Airport Area Environs, West Newport Mesa Area, and Newport Center Area as they have the highest
opportunities ratings, moderate or highest resource ratings, and higher transit connectivity. The low- and
very low-income site within these areas will provide increased affordable housing options where there
are higher rates of lower -income residents. Additionally, the majority of the selected sites throughout the
City are planned to accommodate mixed -income housing units which will prevent exacerbating the
concentrations of lower income households.
Overpayment
The City of Newport Beach experiences low to moderate rates of overpayment generally with only one
census tract in the central area of the City experiencing high rates of overpayment. Site selection
emphasized the development of multifamily and mixed -use housing within six focus areas that will be
rezoned to allow for high -density housing. Housing located throughout the City's six focus areas will
facilitate additional affordable units through multifamily development. The low- and very low-income
sites associated with the residential development in the central area of the City will provide access to
supportive services such asjob opportunity and transit amenities and will ensure that there are affordable
housing options in geographical areas that are experiencing moderate to high rates of overpayment.
Overcrowding
The entirety of the City experiences low rates of overcrowding. The placement of lower and moderate- to
above moderate -income sites throughout the six focus areas within the City will not exacerbate any
instances of overcrowding as additional housing development at all income levels would alleviate impacts
of overcrowding.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-129
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
5. Analysis of Fair Housing Priorities and Goals
To enhance mobility and promote inclusion for protected classes, the chief strategy included in this
housing element is to provide sites suitable for affordable housing in high -resource, high opportunity
areas, as demonstrated by the analysis of the housing resource sites contained in this section. Other
programs that affirmatively further fair housing include:
• Policy Action 4A: Affirmatively Furthering Fair Housing
• Policy Action 7A: Supportive Housing / Low Barrier Navigation Centers
• Policy Action 713: Transitional and Supportive Housing
• Policy Action 7C: Housing for Persons with Developmental Disabilities
• Policy Action 7D: Fair Housing Services
1. Regional Housing Needs Allocation
This section of the Housing Element provides an overview of the resources available to the City to meet
their Regional Housing Needs Allocation (RHNA).
Residential Sites Inventory
Appendix B of the Housing Element includes the required site analysis tables and site information for the
vacant and non -vacant properties to meet the City's RHNA need through the 2021-2029 planning period.
The following discussions summarize the City's site inventory and rezone plan.
Above Moderate- and Moderate -Income Sites
For the 2021-2029 planning period, the City's RHNA allocation is 1,050 for moderate -income site and
1,409 for above moderate -income sites. The City anticipates current planned growth, projects already in
the approval process, to entirely meet the above moderate -income need within the planning period. The
City will meet the moderate -income need through a combination of existing capacity on residentially
zoned land, through the redevelopment of parcels rezoned within the focus areas, and through the
development of accessory dwelling units (ADUs).
A total of 287 moderate -income and 40 above moderate -income units can be accommodated through
existing zoning capacity on parcels. By subtracting existing units from maximum potential unit yield per
parcel, the City projected additional capacity on several parcels. Each parcel included in the inventory was
then vetted for likelihood of redevelopment and to ensure all HCD criteria were met. The required
descriptive information for these sites can be found within Appendix B.
An additional 72 moderate and 5 above moderate -income units can be accommodated through the
development of ADUs throughout the community. This is based on the methodology described within
Appendix D: Accessory Dwelling Units and incorporates guidance from HCD's Housing Element Site
Inventory Guidebook.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-130
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
A supplemental 5,798 moderate and above moderate -income units can be accommodated through the
rezone strategies proposed for six focus areas throughout the City. Originally identified by the Housing
Element Update Advisory Committee (HEAUC), the focus areas guided the development of area -specific
rezone policies and City actions to ensure that Newport Beach has sufficient capacity to meet the RHNA
Allocation for the 6th Cycle.
.analysis of The City's Existing Capacity and Zoning
Table 3-32: Residential Caaacity for Moderate and Above Moderate -Income Sites
Significant Zone
Max Density
Reasonable
Density*
Number of
Parcels
Acreage
Potential
Units
Moderate -Income Sites
MU-MM
26 du/ac
26 du/ac
24
9 acres
180 units
MU-W2
26 du/ac
23 du/ac
13
4 acres
51 units
MU-V
25 du/ac
20 du/ac
6
1 acre
13 units
MU-CV/15th Street
18 du/ac
15 du/ac
24
3 acres
43 units
Subtotal
67
17 acres
287 units
Above Moderate -Income Sites
MU-W1
5 du/ac
5 du/ac
7
9 acres
40 units
Subtotal
7
9 acres
40 units
TOTAL CAPACITY
74
26 acres
327 units
*Note — Specific densities vary within these zoning designations and potential unit projections are based on the parcel -
specific requirements and existing conditions on parcels.
Reasonable Capacity Assumptions
This section describes the methodology developed to determine the site capacity for the moderate and
above moderate -income sites. The City assumes that above moderate -income units will develop at a
maximum up eight dwelling units per acre, and that moderate -income units will develop at a maximum
of 26 dwelling units per acre. Reasonable capacity for sites identified to meet the City's moderate and
above moderate need was calculated based on a number of factors, including site size, existing zoning
requirements, vacancy and total number of units entitled, and the maximum density achievable for
projects within the following zones:
• MU-MM — Mixed -Use Mariners' Mile: The MU-MM Zoning District is intended to provide areas
for the development of mixed -use structures that vertically integrate residential dwelling units
above the ground floor with retail uses including office, restaurant, and retail. The zone permits a
density range of 20.1— 26.7 dwelling units per acre.
• MU-W1 — Mixed -Use Water: This zoning district applies to waterfront properties along the
Mariners' Mile Corridor in which nonresidential uses and residential dwelling units may be
intermixed. A minimum of fifty (50) percent of the allowed square footage in a mixed -use
development shall be used for nonresidential uses in which marine -related and visitor -serving
land uses are mixed. This zone permits a density range of up to 15 dwelling units per acre.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-131
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
• MU-W2— Mixed -Use Water: This zoning district applies to waterfront properties in which marine -
related uses may be intermixed with general commercial, visitor -serving commercial and
residential dwelling units on the upper floors. This zone permits a density range of up to 15
dwelling units per acre.
• MU-V — Mixed -Use Vertical: This zoning district is intended to provide for areas appropriate for
the development of mixed -use structures that vertically integrate residential dwelling units above
the ground floor with retail uses including office, restaurant, retail, and similar nonresidential uses
located on the ground floor or above.
• MU-CV/15th Street — Mixed -Use Cannery Village and 15t' Street: This zoning district applies to
areas where it is the intent to establish a cohesively developed district or neighborhood
containing multi -unit residential dwelling units with clusters of mixed -use and/or commercial
structures on interior lots of Cannery Village and 15th Street on Balboa Peninsula. Allowed uses
may include multi -unit dwelling units; nonresidential uses; and/or mixed -use structures, where
the ground floor is restricted to nonresidential uses along the street frontage. Residential uses
and overnight accommodations are allowed above the ground floor and to the rear of uses along
the street frontage. Mixed -use or nonresidential structures are required on lots at street
intersections and are allowed, but not required, on other lots. This zone permits a density range
of 20.1— 26.7 dwelling units per acre.
Potential constraints, to the extent they are known, such as environmentally sensitive areas and steep
slopes were considered, and deductions made where those factors decreased the net buildable area of a
parcel. Additionally, existing units' non -vacant parcels were analyzed to determine the number of existing
units currently on the parcel. Replacement of existing units was included as a factor to prevent no net
loss of existing housing stock.
Rezones to Accommodate the Moderate and Above Moderate RHNA
In additional to residential use on specific plans and ADUs, the City of Newport Beach has identified 212
sites to be rezoned from commercial use to residential use or to be rezoned to a higher residential density.
The sites for rezone are further detailed in Appendix B and a rezone program is identified in Section 4:
Housing Plan. Figure 3-27 displays the focus areas for rezone, accompanied by a corresponding table of
strategy information shown below as Table 3-33. The specific development assumptions (both on
affordability and overall development potential) that produce the Potential Units are described, area -by -
area, in the Sites Inventory of Appendix B.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-132
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table 3-33: Moderate/Above Moderate -Income Rezone Strateizv by Focus Area
Focus Area
Feasible Acreage
Rezone Density
Potential
Moderate -Income
Units
Potential Above
Moderate -Income
Units
Airport Area Environs
172 acres
50 du/ac
258
1,546
West Newport Mesa Area
47 acres
50 du/ac
111
664
Dover-Westcliff Area
20 acres
50 du/ac
52
312
Newport Center Area
163 acres
50 du/ac
244
1,463
Coyote Canyon Area
34 acres
60 du/ac
153
995
Total
436 acres
-
818 units
4,981 units
Banning Ranch Area
30 acres
50 du/ac
148
884
Total
466 acres
--
966 units
4,865 units
Development of Non -Vacant Sites and Converting to Residential Uses
To analyze the potential for redevelopment of non -vacant sites, the City sent out more than 500 letters
to property owners. Responses to the letters were recorded and are included within the inventory of sites
within Appendix B. Although a positive response to the redevelopment interest letters does not guaranty
the redevelopment of a parcel to residential as a primary use within the planning period, it is a strong
indicator of likelihood of redevelopment and is used as sufficient evidence for inclusion within the
Adequate Sites Inventory.
Accessory Dwelling Unit Production
The City of Newport Beach believes that ADUs present a viable option as part of the overall strategy to
develop housing at all income levels during the 2021-2029 61" Cycle Housing Element planning period.
Appendix D describes:
• Recent ADU legislation and regional actions,
• Local factors that may increase ADU development over the next eight years, and
• Actions Newport Beach will take through housing programs to incentivizing ADU development
The City assumes a total development 240 ADUs from 2021-2029. Utilizing the Southern California
Association of Governments (SCAG) approved ADU affordability assumptions, 163 ADUs will be allocated
to the low and very low-income RHNA, 72 will be allocated to the City's moderate -income RHNA and 5 will
be allocated to the above moderate. This is based on the methodology described within Appendix D:
Accessory Dwelling Units and incorporates guidance from HCD's Housing Element Site Inventory
Guidebook.
Sites Suitable for Lower -Income Housing
This section contains a description and listing of the candidate sites identified to meet the Newport
Beach's very low and low-income RHNA need. A full list of these sites is presented in Appendix B.
Projects in the Pipeline and Accessory Dwellingq Unit,
The City has identified a number of projects currently in the entitlements process which are likely to be
developed during the planning period and count as credit towards the 2021-2029 RHNA allocation.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-133
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Ike
Projects with planned affordable components include:
• Newport Airport Village
• Residences at 4400 Von Karman
• Newport Village Mixed -Use
• West Coast Highway Mixed -Use
• Newport Crossings
The total anticipated development of Projects in the Pipeline and Accessory Dwelling Units is summarized
in Table 3-34 below to calculate the Remaining Need.
Table 3-34: Low and Very Low -Income Remaining Need
Very Low -Income
Low -Income
RHNA Allocation
1,456
930
Pipeline Projects
97
78
5` Cycle Sites
0
0
Accessory Dwelling Units
60
103
Remaining Low/Very Low -Income Need
1,299
749
Sites Identified for Rezone to Accommodate Low and Very low
After the identification of projects in the pipeline and ADUs to accommodate the City's low and very low
RHNA, a remaining 2,048 units must be accommodated to meet the City's RHNA. To account for this
remaining need, the City conducted a community -driven process to identify several parcels for inclusion
in the Adequate Sites Inventory. This process was led by the Housing Element Update Advisory Committee
(HEUAC). To guide the identification of adequate sites, the committee created focus areas Sites identified
by the committee and the public to meet the City's very low and low-income RHNA were selected based
on the AB 1397 size requirements of at least 0.5 acres but not greater than 10 acres.
The 221 parcels are currently zoned as the following:
• 157 parcels are zoned non-residential
• 64 parcels are zoned residentially at a lower density.
All parcels are non -vacant and will be rezoned to higher densities (densities are specific to each focus
area) able to accommodate the development of lower -income housing. Figure 3-28 below displays the
sites identified to accommodate the City's low and very low-income RHNA allocation. The Housing Plan
section outlines actions the City will take to promote the development of affordable units within the
following focus areas:
• Airport Vicinity Area • Newport Center Area
• West Newport Mesa Area • Coyote Canyon Area
• Dover-Westcliff Area • Banning Ranch Area
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-134
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
The key assumptions and unit projections related to each focus area are shown below in Table 3-35 and
the focus areas are shown geographically below in Figure 3-27. The specific development assumptions
(both on affordability and overall development potential) that produce the Potential Units are described,
area -by -area, in the Sites Inventory of Appendix B.
Table 3-35: Low/Very Low -Income Rezone Strategy by Focus Area
Focus Area
Feasible Acreage (AC)
Rezone
Density
Potential Low/Very Low -
Income Units
Airport Area Environs
172 acres
50 du/ac
773
West Newport Mesa Area
47 acres
50 du/ac
332
Dover-Westcliff Area
20 acres
50 du/ac
156
Newport Center Area
163 acres
50 du/ac
732
Coyote Canyon Area
34 acres
60 du/ac
383
Total
436 acres
-
2,376 units
Banning Ranch Area
30 acres
50 du/ac
443
Total
466 acres
--
2,819 units
Figure 3-27: Focus Areas for Rezones
Banning Ranch
I West
Newport
Mesa
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-135
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Development of Nonvacant Sites to Accommodate Low and Very Low -Income
74 non -vacant sites were also identified in the 51h cycle. In accordance with AB 1397 the City will establish
a program that permits By -Right development for projects that propose 20 percent of all units to be
affordable to low and very low-income units. The program is outlined in detail in Section 4: Housing Plan.
Zegional Housing Needs Allocation
Future Housing Needs
Future housing need refers to the share of the regional housing need that has been allocated to the City.
The State Department of Housing and Community Development (HCD) supplies a regional housing goal
numberto the Southern California Association of Governments (SCAG). SCAG is then mandated to allocate
the housing goal to city and county jurisdictions in the region through a RHNA Plan. In allocating the
region's future housing needs to jurisdictions, SCAG is required to take the following factors into
consideration pursuant to Section 65584 of the State Government Code:
• Market demand for housing.
• Employment opportunities.
• Availability of suitable sites and public facilities.
• Commuting patterns.
• Type and tenure of housing.
• Loss of units in assisted housing developments.
• Over -concentration of lower -income households.
• Geological and topographical constraints.
HCD, through a determination process, allocates units to each region across California. It is then up to
each region to determine a methodology and process for allocating units to each jurisdiction within that
region. SCAG adopted its final Regional Housing Needs Allocation (RHNA Plan) in February 2021. This
RHNA covers an 8-year planning period (starting in 2021) and addresses housing issues that are related to
future growth in the region. The RHNA allocates to each city and county a "fair share" of the region's
projected housing needs by household income group. The major goal of the RHNA is to assure a fair
distribution of housing among cities and counties within the Southern California region, so that every
community provides an opportunity for a mix of housing for all economic segments.
Newport Beach's share of the SCAG regional growth allocation is 4,845 new units for the current planning
period (2021-2029). Table 3-36, Housing Needs for 2021-2029, indicates the City's RHNA need for the
stated planning period.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-136
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table 3-36: Housing Needs for 2021-2029
Income Category (% of County AMI)
Number of Units
Percent
Extremely Low (30% or less)
728 units
15%
Very Low (31 to 50%)1
728 units
15%
Low (51 to 80%)
930 units
19%
Moderate (81%to 120%)
1,050 units
22%
Above Moderate (Over 120%)
1,409 units
29%
Total
4,845 units
100%
Note 1: Pursuant to AB 2634, local jurisdictions are also required to project the housing needs of extremely low-
income households (0-30%AMI). In estimating the number of extremely low-income households, a jurisdiction can
use 50% of the very low-income allocation or apportion the very low-income figure based on Census data.
Adequacy of Sites For RHNA
The City of Newport Beach has a total 2021-2029 RHNA allocation of 4,845 units. The City is able to take
credit for 1,662 units currently within the planning process (Projects in the Pipeline), 327 units of 51" Cycle
Sites being projected at existing buildout capacity, and 240 units of ADU's (addressed in Appendix B and
in Appendix D). These three categories of existing capacity lower the total RHNA planning need to a
"Remaining Need" of 2,707 units as shown in Table 3-37. The Housing Element update lists sites that
would be able to accommodate an additional 7,909 total units, well in excess of the remaining 2,707-unit
RHNA need.
Newport Beach has identified sites with a capacity to accommodate 2,296 lower -income dwelling units,
which is in excess of its 2,386-unit lower -income housing need. The identified sites for lower -income
dwelling units are on parcels that will permit residential development as a primary use at a base density
of between 30 and 60 dwelling units per acre and at an assumed density of between 50 and 60 dwelling
units per acre.
The Banning Ranch Focus area is included in the sites inventory, but not assumed to accommodate the
City's 2021-2029 RHNA growth need. Banning Ranch is considered as additional dwelling unit opportunity
in addition to those that accommodates the RHNA. When including Banning Ranch, the Housing Element
would enable the City to increase its site surplus. This would result in a surplus of 691 low and very low
income units compared to a 248 unit surplus without Banning Ranch.
As described in Appendix B, the City believes that due to recent State legislation and local efforts to
promote accessory dwelling unit (ADU) production, the City can realistically anticipate the development
of 240 ADUs within the 8-year planning period. As outlined in the Sites Inventory within Appendix B, the
City has compiled an inventory of sites for rezone that, combined, have development potential to wholly
exceed and maintain the capacity to accommodate the RHNA Allocation throughout the 8-year planning
period. Overall, the City has adequate capacity to accommodate its 2021-2029 RHNA.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-137
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table 3-37: Summary of RHNA Status and Sites Inventory
Extremely
Low/ Very
Low Income
Low
Income
Moderate
Income
Above
Moderate
Income
Total
2021-2029 RHNA
1,456
930
1,050
1,409
4,845
RHNA Credit (Units Built)
TBD
TBD
TBD
TBD
TBD
Total RHNA Obligations
1,456
930
1,050
1,409
4,845
Sites Available
Projects in the Pipeline
175
32
1,455
1,662
Accessory Dwelling Units
163
72
5
240
5th Cycle Sites
0
287
40
327
Remaining RHNA
2,048
659
--
2,707
Airport Area Environs Rezone
773
258
1,546
2,557
West Newport Mesa Rezone
332
111
664
1,107
Dover-Westcliff Rezone
156
52
313
521
Newport Center Rezone
732
244
1,463
2,439
Coyote Canyon Rezone
383
153
995
1,530
Total Rezone
2,376
818
4,981
8,174
TOTAL POTENTIAL
DEVELOPMENT CAPACITY
2,714
1,209
6,481
10,403
Sites Surplus/Shortfall (+/-)
+328
+159
+5,072
+5,558
Percentage Buffer
14%
15%
360%
115%
Banning Ranch Rezone
443
148
884
1,475
Total Rezone with Banning Ranch
2,819
966
5,775
9,649
TOTAL POTENTIAL DEVELOPMENT
CAPACITY
3,156
1,357
1,366
11,878
Sites Surplus/Shortfall (+/-)
+770
+307
+5,957
+7,033
Percentage Buffer
32%
29%
423%
145%
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-138
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Figure 3-28: Sites Inventory and RHNA Obligations
Summary of Sites Inventory and RHNA Obligations
The data and map detailed in Figure 3-28 above shows the City of Newport Beach's ability to meet the
4,845 RHNA allocation in full capacity with a 5,293-unit buffer. Along with the identifying appropriate sites
to meet the current and future housing needs, the City has established a Housing Plan to support its efforts
in providing housing opportunities for all income levels in Newport Beach.
2. Financial Resources
Providing an adequate supply of decent and affordable housing requires funding from various sources,
the City has access to the following finding sources.
Section 8 Housing Choice Voucher
The Section 8 Housing Choice Voucher program is a Federal government program to assist very low-
income families, the elderly, and the disabled with rent subsidy payments in privately owned rental
housing units. Section 8 participants can choose any housing that meets the requirements of the program
and are not limited to units located within subsidized housing projects. They typically pay 30 to 40 percent
of their income for rent and utilities. The Orange County Housing Authority administers Section 8 Housing
Choice vouchers within the City of Newport Beach. As of October 30, 2020, the City has allocated 112
Section 8 vouchers to residents within the community: 30 for families, 20 for persons with disabilities, and
62 for seniors.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-139
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Community Development Block Grants (CDBG)
The Community Development Block Grant (CDBG) program provides annual grants on a formula basis to
cities to develop viable urban communities by providing a suitable living environment and by expanding
economic opportunities, principally for low- and moderate -income persons (up to 80 percent AMI).
CDBG funds can be used for a wide array of activities, including:
• Housing rehabilitation.
• Lead -based paint screening and abatement.
• Acquisition of buildings and land.
• Construction or rehabilitation of public facilities and infrastructure, and:
• Public services for low-income households and those with special needs.
According to the Federal regulations, the City of Newport Beach is allowed to spend no more than of 20%
of CDBG funding on program administration, and 15% on community services such as senior meal delivery
or homeless prevention programs. The remaining amount must be used other eligible projects that meet
national objectives that principally benefit low- and moderate -income households or the disabled.
HUD requires Newport Beach to complete a Five -Year Consolidated Plan (Con Plan) to receive HUD's
formula grant programs. The Con Plan identifies the City's 5-year strategies related to priority needs in
housing, homelessness, community development, and economic development. It also identifies short -
and long-term goals and objectives, strategies, and timetables for achieving its goals. Developed with the
input of citizens and community groups, the Con Plan serves four basic functions:
• It is a planning document for the community built upon public participation and input.
• It is the application for funds under the CDBG Program.
• It articulates local priorities.
• It is a five-year strategy the City will follow in implementing HUD programs.
Additionally, HUD requires the City to prepare a One -Year Action Plan for each of the five years covered
by the Con Plan. The City of Newport Beach reports a total of $372,831 CDBG funds from HUD in the
2020-2021 Action Plan. In same report, the City reports an anticipated $2.07 million of CDBG resources
during the five-year period from July 1, 2020, through June 30, 2025.
HOME Investment Partnership Program (HOME)
The HOME program provides federal funds for the development and rehabilitation of affordable rental
and ownership housing for households with incomes not exceeding 80 percent of area median -income.
The program gives local governments the flexibility to fund a wide range of affordable housing activities
through housing partnerships with private industry and non-profit organizations. HOME funds can be used
for activities that promote affordable rental housing and homeownership by low-income households. The
City of Newport Beach does not currently receive HOME funds.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-140
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
3. Opportunities for Energy Conservation
Enerav Use and Pr-viders
The primary uses of energy in urban areas are for transportation lighting, water heating, and space heating
and cooling. The high cost of energy demands that efforts be taken to reduce or minimize the overall level
of urban energy consumption. Energy conservation is important in preserving non-renewable fuels to
ensure that these resources are available for use by future generations. There are also a number of
benefits associated with energy conservation including improved air quality and lower energy costs.
Southern California Gas Company (SCG) provides natural gas service for the City. Natural gas is a "fossil
fuel" and is a non-renewable resource. Most of the major natural gas transmission pipelines within the
City are owned and operated by SCG. SCG has the capacity and resources to deliver gas except in certain
situations that are noted in state law. As development occurs, SCG will continue to extend its service to
accommodate development and supply the necessary gas lines. Electricity is provided on an as -needed
basis to customers within existing structures in the City. Southern California Edison Company (SCE) is the
distribution provider for electricity in Newport Beach. Currently, SCE has no immediate plans for
expansion of infrastructure, as most of the City is built out. However, every year SCE expands and
improves existing facilities according to demand
tnergy uonservatioi.
The City's energy goals, stated in the Natural Resources Element of the General Plan, make every effort
to conserve energy in the City thus reducing dependence on fossil fuels. The City's policies relating to
energy include increasing energy efficiency in City facilities and operations and in private developments
and reducing the City's reliance on fossil fuels. In order to reach the City's goals, objectives include the
following:
• Develop incentives that encourage the use of energy conservation strategies by private and public
developments,
• Promote energy -efficient design features,
• Promote or provide incentives for "Green Building" programs that go beyond the requirements
of Title 24 of the California Administrative Code and encourage energy efficient design elements
as appropriate to achieve "green building" status; and,
• Provide incentives for implementing Leadership in Environmental and Energy Design (LEED)
certified building such as fee waivers, bonus densities, and/or awards recognition programs.18
The City of Newport Beach's Energy Action Plan (EAP) is identified as a roadmap for the City of Newport
Beach to reduce GHG through reductions in energy used in facility buildings and operations. According to
the City's EAP, the City's long-term vision for energy efficiency focuses on the following objectives:
• Reduce the City's carbon footprint and its adverse effect on the environment
• Conserve energy at the local government facilities
11 City of Newport Beach Natural Resource Element, 2006.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-141
(September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
• Raise energy conservation awareness in local community and improve the quality of life
Currently, the City of Newport Beach has developed the "Building Green" construction manual, created
by the City's Task Force on Green Development. The City has also enacted a City-wide streetlight LED
replacement program, replacing 400 units to date, and is continuing marketing. Education, and outreach
to the community regarding every efficiency and conservation.
Section 3: Housing Constraints, Resources and Affirmatively Furthering Fair Housing 3-142
(September 2022 Final Housing Element)
ta'ills Ie
�r:a 4'
-71
:. '�r ,��... � �_- i.: I wY ram•_ - �Ist ��-
'� ■rly a '.`4 '■
Irv, Mop—
LZ
. 7"z
Oak
got
v _
ZT- 64 1TiTi L'
City of Newport Beach
2021-2029 HOUSING ELEMENT
The Housing Plan describes the City of Newport Beach 2021-2029 policy program. The Housing Plan
describes the specific goals, policies, and programs to assist City decision makers to achieve the long-term
housing objectives set forth in the Newport Beach Housing Element. This Plan identifies goals, policies,
and programs aimed at providing additional housing opportunities, removing governmental constraints
to affordable housing, improving the condition of existing housing, and providing equal housing
opportunities for all residents. These goals, policies, and programs further the City's overall housing policy
goal to encourage a more diverse, sustainable, and balanced community through implementation of
strategies and programs that will result in economically and socially diversified housing choices that
preserve and enhance the special character of Newport Beach. The City will make every effort to budget,
plan for and comply with the timelines for implementation set forth in this Section, but may be contingent
upon funding and staffing resources.
The Southern California Association of Governments (SCAG) has conducted a Regional Housing Needs
Assessment (RHNA) to determine the City's share of the affordable housing needs for the Orange County
region. The RHNA quantifies Newport Beach's local share housing needs for the region by income
category. Income categories are based on the most current Median Family Income (MFI) for Orange
County. The current 2021 MFI (for an assumed family of 4 persons) for Orange County is $106,700. The
MFI may change periodically, as it is updated on an annual basis. The City's 2021-2029 RHNA growth need
of 4,845 housing units is allocated into the following income categories:
• 1,456 units - Very low-income (0-50% County MFI)
• 930 units - Low-income (51-80% of County MFI)
• 1,050 units - Moderate -income (81-120% of County MFI)
• 1,409 units - Above moderate -income (120% or more of County MFI)
Housing Goals
The City of Newport Beach has identified the following housing goals as part of this Housing Element
Update:
Housing Goal #1: Provision of adequate sites to accommodate projected housing unit growth needs
identified by the 2021-2029 RHNA.
Housing Goal #2: Quality residential development and the preservation, conservation, and appropriate
redevelopment of housing stock.
Housing Goal #3: A variety of housing types, designs, and opportunities for all social and economic
segments.
Housing Goal #4: Housing opportunities for as many renter- and owner -occupied households as possible
in response to the market demand and RHNA obligations for housing in the City.
Section 4: Housing Plan (September 2022 Final Housing Element) 4-1
City of Newport Beach
2021-2029 HOUSING ELEMENT
View
��-�-
Housing Goal #5: Preservation of the City's housing stock for extremely low-, very low-, low-, and
moderate -income households.
Housing Goal #6: Housing opportunities for special needs populations.
Housing Goal #7: Equal housing opportunities in the City for all people.
Housing Goal #8: Effective and responsive housing programs and policies.
The goals listed above are described below and on the following pages with accompanying policies and
programs to achieve them.
B. Housing Policies and Program Actions
This Housing Element expresses the Newport Beach community's overall housing goals and supporting
policies and program actions to achieve them. The stated Housing Program Actions are based on a review
of past performance of the 5th Cycle Housing Element, analysis of current constraints and resources, and
input from Newport Beach residents and stakeholders.
Housing Goal #1
Provision of adequate sites to accommodate projected housing unit growth needs.
Housing Policy 1.1: identify a variety of sites to accommodate housing growth need by income categories
to serve the needs of the entire community.
Implementation Actions
Adequate Sites to Accommodate 2021-2029 RHNA
The City of Newport Beach has a total Regional Housing Needs Assessment (RHNA) allocation of 4,845
units. State law requires the City of Newport Beach to identify adequate sites to accommodate its fair
share allocation for the 6th Cycle Housing Element. This City has identified a variety of candidate sites
through extensive analysis in collaboration with the community and stakeholder through Newport
Together's "Listen and Learn" process, multiple meetings of the City's Housing Element Update Advisory
Committee (Committee), participation by interested residents at a variety of public meetings, workshops,
and consultation with property owners. The City of Newport Beach has identified an adequate amount
of land that was determined by the Committee as "Feasible" or "Potentially Feasible" for future
development. Only a portion of these candidate sites will be necessary to accommodate the City's RHNA
planning obligation. These sites have undergone a rigorous process to evaluate site features, development
potential, developer/owner interest and other factors to deem them appropriate for housing during the
2021-2029 Planning Period.
As part of the analysis of adequate sites, the City has comprehensively reviewed opportunity sites citywide
and have identify eight primary areas of opportunity:
• Airport Area Environs • Dover/Westcliff
• West Newport Mesa • Newport Center
Section 4: Housing Plan (September 2022 Final Housing Element) 4-2
City of Newport Beach - - �-- s-
2021-2029 HOUSING ELEMENT
• Banning Ranch • 51" Cycle Housing Element Sites
• Coyote Canyon • Accessory Dwelling Units
Since the City has identified several opportunity sites in the 5t" Cycle that will be utilized in the 6t" Cycle
Housing Element, additional policy considerations are stated in this Policy Program.
These opportunities sites are described in map and tabular format in Appendix B of this Housing Element.
Each of the opportunity areas described in this Housing Element have been assigned a targeted acreage,
and a targeted number of new housing units (see following implementing Policy Action statements).
Collectively, these targets must meet the unmet RHNA need as required by State law. It is expected there
may be deviations from the targets with future implementing zoning actions. New opportunity sites may
be identified, and other sites may be deemed unsuitable or densities may be modified, all based on new
information received over time. The City may adopt future zoning strategies that are more or less than
the identified targets in this Housing Element provided the total unmet RHNA need by income category is
accommodated within state -defined deadlines. If future zoning strategies deviate from the targets
expressed in this Housing Element but still meet the requirement to identify adequate sites to
accommodate unmet RHNA need, no amendment to the Housing Element would be required and
deviations of any magnitude may be considered subject to the City Council's review and approval in
consultation with the Community.
All sites proposed for rezoning through implementation of Policy Actions 1A through 1F provided in
Section 4 of this Housing Element will require a companion Land Use Element amendment that will be
subject to a vote of the electorate pursuant to Charter Section 423. The City will initiate an election and
conduct community outreach to educate the public on the benefits of higher density housing and pay for
all costs associated with the ballot measure(s). The table below presents a timeline for the process
including the vote. If the vote fails, the City will propose alternative Policy Actions and call for a second
election. If the second vote fails to pass, the City Council will seek a legal opinion from the State Attorney
General's Office as to how to proceed.
Milestones for Housing Element Adoption. Implementation and Charter Section 423 Election
Anticipated Date
Action
Requirements
February 2022
Housing Element Adoption
Public Hearing
February 2022-
Preparation of Land Use Element amendment(s),
Community meetings
September 2023
Zoning to implement Policy Actions 1A — 1F, and completion
and Public Hearings
of Environmental Impact Report
September 2023
Initiate ballot measure for Charter Section 423 vote
133 days prior to election
date
March 2024
Charter Section 423 election date for voter approval on
proposed Land Use Element Amendment
If Charter 423 vote fails:
Amend Housing Element for HCD review and amend Land
Community meetings
Use Element and adopt corresponding zoning strategies after
and Public Hearings
conducting environmental review
Section 4: Housing Plan (September 2022 Final Housing Element) 4-3
City of Newport Beach
2021-2029 HOUSING ELEMENT
Conduct second Charter Section 423 election on revised
amendments
If second Charter 423 fails:
Request opinion from State Attorney General's Office as to City's options
For all Rezone Policy Actions 1A to 1F, Pursuant to Government Code 65583.2, subdivisions (h) & (i),
which rezone sites to accommodate the City's shortfall in satisfying the RHNA, the City commits to
the following:
• permit owner -occupied and rental multifamily uses by -right for developments in which
20 percent or more of the units are affordable to lower -income households. By -right
means local government review must not require a CUP, planned unit development
permit, or other discretionary review or approval.
• accommodate a minimum of 16 units per site;
• require a minimum density of 20 units per acre; and
• at least 50 percent of the lower -income need must be accommodated on sites
designated for residential use only or on sites zoned for mixed uses that
accommodate all of the very low and low-income housing need, if those sites:
o allow 100 percent residential use, and
o require residential use occupy 50 percent of the total floor area of a
mixed-useproject.
Policy Action 1A: Airport Environs Sub Area
The City will establish a housing opportunity overlay district, or similar rezoning strategy, in the Airport
Environs area for 172 acres of land to provide for the accommodation of at least 2,577 housing units in
the Very Low, Low, Moderate and Above Moderate -income categories. A Map and Table Summary of
these sites are provided in Appendix B of this Housing Element. The overlay, or similar rezone strategy,
will allow development of a variety of residential product types at a permitted average density of
50 dwelling units per acre.
Implementation of this program will also include but not limited to development standards, overlay text
and entitlement procedures to, among other things, encourage the development of housing for persons
of Very Low and Low incomes. In developing the overlay, or similar rezone strategy, the City will evaluate
the potential to include a variety of incentive tools as appropriate, including but not limited to floor area
bonus, density bonus, entitlement streamlining, fee waivers or reductions and other considerations.
For Policy 1A, pursuant to Government Code 65583.2, subdivisions (h) & (i), which rezone sites to
accommodate the City's shortfall in satisfying the RHNA, the City commits to the following:
• permit owner -occupied and rental multifamily uses by -right for developments in which
20 percent or more of the units are affordable to lower -income households. By -right
means local government review must not require a CUP, planned unit development
permit, or other discretionary review or approval.
• accommodate a minimum of 16 units per site;
• require a minimum density of 20 units per acre; and
• at least 50 percent of the lower -income need must be accommodated on sites
designated for residential use only or on sites zoned for mixed uses that
Section 4: Housing Plan (September 2022 Final Housing Element) 4-4
City of Newport Beach
2021-2029 HOUSING ELEMENT
accommodate all of the very low and low-income housing need, if those sites:
o allow 100 percent residential use, and
o require residential use occupy 50 percent of the total floor area of a
mixed-useproject.
Timeframe: Complete Code Amendments within 36 months of Housing Element Adoption
Responsible Agency: City of Newport Beach Community Development
Funding Source: General Fund
Policy Action 1 B: West Newport Mesa
The City will establish a housing opportunity overlay, or similar rezoning strategy, in the West Newport
Mesa area for 47 acres of land to provide for the accommodation of at least 1,107 housing units in the
Very Low, Low, Moderate and Above Moderate -income categories. A Map and Table Summary of these
sites are provided in Appendix B of this Housing Element. The overlay, or similar rezone strategy, will
allow development of a variety of residential product types at a permitted average density of 50 dwelling
units per acre.
Implementation of this program will also include but not limited to development standards, overlay text
and entitlement procedures to, among other things, encourage the development of housing for persons
of Very Low and Low incomes. In developing the overlay, or similar rezone strategy, the City will evaluate
the potential to include a variety of incentive tools as appropriate, including but not limited to floor area
bonus, density bonus, entitlement streamlining, fee waivers or reductions and other considerations.
For Policy 113, pursuant to Government Code 65583.2, subdivisions (h) & (i), which rezone sites to
accommodate the City's shortfall in satisfying the RHNA, the City commits to the following:
• permit owner -occupied and rental multifamily uses by -right for developments in which
20 percent or more of the units are affordable to lower -income households. By -right
means local government review must not require a CUP, planned unit development
permit, or other discretionary review or approval.
• accommodate a minimum of 16 units per site;
• require a minimum density of 20 units per acre; and
• at least 50 percent of the lower -income need must be accommodated on sites
designated for residential use only or on sites zoned for mixed uses that
accommodate all of the very low and low-income housing need, if those sites:
o allow 100 percent residential use, and
o require residential use occupy 50 percent of the total floor area of a
mixed-useproject.
Timeframe: Complete Code Amendments within 36 months of Housing Element Adoption
Responsible Agency: City of Newport Beach Community Development
Funding Source: General Fund
Section 4: Housing Plan (September 2022 Final Housing Element) 4-5
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action 1 C: Newport Center
The City will establish a housing opportunity overlay, or similar rezoning strategy, in the Newport Center
area for 163 acres of land to provide for the accommodation of at least 2,439 housing units in the Very
Low, Low, Moderate and Above Moderate -income categories. A Map and Table Summary of these sites
are provided in Appendix B of this Housing Element. The overlay, or similar rezone strategy, will allow
development of a variety of residential product types at a permitted average density of 50 dwelling units
per acre.
Implementation of this program will also include but not be limited to development standards, overlay
text and entitlement procedures to, among other things, encourage the development of housing for
persons of Very Low and Low incomes. In developing the Overlay, or similar rezone strategy, the City will
evaluate the potential to include a variety of incentive tools as appropriate, including but not limited to
floor area bonus, density bonus, entitlement streamlining, fee waivers or reductions and other
considerations.
For Policy 1C, pursuant to Government Code 65583.2, subdivisions (h) & (i), which rezone sites to
accommodate the City's shortfall in satisfying the RHNA, the City commits to the following:
• permit owner -occupied and rental multifamily uses by -right for developments in which
20 percent or more of the units are affordable to lower -income households. By -right
means local government review must not require a CUP, planned unit development
permit, or other discretionary review or approval.
• accommodate a minimum of 16 units per site;
• require a minimum density of 20 units per acre; and
• at least 50 percent of the lower -income need must be accommodated on sites
designated for residential use only or on sites zoned for mixed uses that
accommodate all of the very low and low-income housing need, if those sites:
o allow 100 percent residential use, and
o require residential use occupy 50 percent of the total floor area of a
mixed-useproject.
Timeframe: Complete Code Amendments within 36 months of Housing Element Adoption
Responsible Agency: City of Newport Beach Community Development
Funding Source: General Fund
Policy Action 1 D: Dover/ Westcliff
The City will establish an overlay, or similar rezoning strategy, in the Dover / Westcliff area for 20 acres of
land to provide for the accommodation of at least 521 housing units in the Very Low, Low, Moderate and
Above Moderate -income categories. A Map and Table Summary of these sites are provided in Appendix
B of this Housing Element. The overlay, or similar rezone strategy, will permit development of a variety
of residential product types at a permitted average density of 50 dwelling units per acre.
Implementation of this program will also include but not limited to development standards, overlay text
and entitlement procedures to, among other things, encourage the development of housing for persons
of Very Low and Low incomes. In developing the overlay, or similar rezone strategy, the City will evaluate
Section 4: Housing Plan (September 2022 Final Housing Element) 4-6
City of Newport Beach
2021-2029 HOUSING ELEMENT
the potential to include a variety of incentive tools as appropriate, including but not limited to floor area
bonus, density bonus, entitlement streamlining, fee waivers or reductions and other considerations.
For Policy 1D, pursuant to Government Code 65583.2, subdivisions (h) & (i), which rezone sites to
accommodate the City's shortfall in satisfying the RHNA, the City commits to the following:
• permit owner -occupied and rental multifamily uses by -right for developments in which
20 percent or more of the units are affordable to lower -income households. By -right
means local government review must not require a CUP, planned unit development
permit, or other discretionary review or approval.
accommodate a minimum of 16 units per site;
require a minimum density of 20 units per acre; and
• at least 50 percent of the lower -income need must be accommodated on sites
designated for residential use only or on sites zoned for mixed uses that
accommodate all of the very low and low-income housing need, if those sites:
o allow 100 percent residential use, and
o require residential use occupy 50 percent of the total floor area of a
mixed-useproject.
Timeframe: Complete Code Amendments within 36 months of Housing Element Adoption
Responsible Agency: City of Newport Beach Community Development
Funding Source: General Fund
Policy Action 1E: Banning Ranch
The City has identified the Banning Ranch area as a potential site to accommodate future housing needs.
The City has previously approved housing development on this site, but the approved project was
subsequently denied by the California Coastal Commission. Additionally, there is a potential the site will
be purchased by an entity to preserve the area as open space. The State Department of Housing and
Community Development and California Coastal Commission have expressed they do not support the City
utilizing the site to the accommodate future RHNA needs based on this potential. Despite these
statements, the City believes this site is still a viable opportunity to provide housing for a variety of income
levels on a small portion of the 400+ acre site while protecting environmental resources. The City will
continue to support development potential in the Banning Ranch Area, but will not assume the potential
buildout of the area to demonstrate adequate sites for the 2021-2029 RHNA planning period.
The site is currently within the City's Sphere of Influence. The City will continue to work collaboratively
with the County of Orange for annexation and with other agencies/entities regarding future use of the
property. The City will continue to pursue residential opportunities on a portion of the Banning Ranch
site, consistent with existing General Plan policies to provide opportunities for up to 1,475 residential
units at an average density of 50 dwelling units per acre.
Implementation of this program will also include development standards and entitlement procedures to
encourage the development housing for persons of Very Low and Low incomes.
Section 4: Housing Plan (September 2022 Final Housing Element) 4-7
City of Newport Beach
2021-2029 HOUSING ELEMENT
For Policy 1E, pursuant to Government Code 65583.2, subdivisions (h) & (i), which rezone sites to
accommodate the City's shortfall in satisfying the RHNA, the City commits to the following:
• permit owner -occupied and rental multifamily uses by -right for developments in which
20 percent or more of the units are affordable to lower -income households. By -right
means local government review must not require a CUP, planned unit development
permit, or other discretionary review or approval.
• accommodate a minimum of 16 units per site;
• require a minimum density of 20 units per acre; and
• at least 50 percent of the lower -income need must be accommodated on sites
designated for residential use only or on sites zoned for mixed uses that
accommodate all of the very low and low-income housing need, if those sites:
o allow 100 percent residential use, and
o require residential use occupy 50 percent of the total floor area of a
mixed-useproject.
Timeframe: Complete necessary Code, General Plan and LCP Amendments within 36 months of Housing Element
Adoption
Responsible Agency: City of Newport Beach Community Development
Funding Source: General Fund
Policy Action 1 F. Coyote Canyon
The Coyote Canyon property is a closed landfill that is owned and managed by the County or Orange but
leased to a private developer. The area is of substantial acreage but has limited development potential
due to various environmental considerations. The developer has evaluated the entire landfill area and
has concluded that 34 acres of the property is not subject to environmental constraints. Additionally, the
City has been advised that the County has expressed interest in participating in a transfer of a portion of
the property to accommodate residential opportunity.
The City will rezone at least 34 acres of land on the Coyote Canyon site, as shown in Appendix B, to
accommodate up to 1,530 housing units at an average density of 60 dwelling units per acre.
Implementation of this program will also include development standards and entitlement procedures to
encourage the development of housing for persons of Very Low and Low incomes.
Timeframe: Complete Code Amendments within 36 months of Housing Element Adoption
Responsible Agency: City of Newport Beach Community Development
Funding Source: General Fund
Policy Action 1G: 51 Cycle Housing Element Sites
The City has identified a number of sites in the sites inventory contained in Appendix B contain infill sites
that were identified in the 5th Cycle Housing Element to accommodate the Very Low and Low-income
categories. To comply with State law, the City will amend Title 20 of the Newport Beach Municipal Code
(NBMC) to permit residential uses by -right for housing development projects in which at least 20-percent
Section 4: Housing Plan (September 2022 Final Housing Element) 4-8
City of Newport Beach
2021-2029 HOUSING ELEMENT
of the units are affordable to lower -income households. For the purpose of implementation of this
program, by -right shall mean the City will not require a discretionary permit application, such as a
Conditional Use Permit or Planned Unit Development Permit, that would constitute a "project" as
described in Section 21100 of the Public Resources Code. For sites in the coastal zone, the City will
continue to require coastal development permits to determine compliance with the City's certified Local
Coastal Program.
The City commits to zoning these 5t" Cycle sites to allow Newport Beach's default density of 30 du/ac,
pursuant to Government Code 65583.2, subdivision(c) or at densities demonstrated to be appropriate for
the development of housing for lower -income households. Additionally, if any vacant sites in the
inventory are being used to accommodate the lower RHNA and have been identified in two prior planning
periods, the program must ensure that those sites meet the same requirements.
Timeframe: Complete Code Amendments within 36 months of Housing Element Adoption
Responsible Agency: City of Newport Beach Community Development
Funding Source: General Fund
Policy Action 1 H: Accessory Dwelling Unit Construction
Accessory Dwelling Units (ADUs) are an accepted method of providing affordable housing in the City. Due
to recent legislation, the ability to entitle and construct ADUs has increased significantly. The City
recognizes the significance of this legislation as evidenced by a marked increase in ADU permit
applications. Due to this legislation, the City believes aggressive support for ADU construction will result
in increased opportunities for housing including affordable units.
The City will aggressively support and accommodate the construction of at least 240 ADUs by a variety of
methods, including but not limited to:
• Developing and implementing a public awareness campaign for construction of ADUs with a
systematic approach utilizing all forms of media and outreach distribution
• Preparing and maintaining a user-friendly website committed to information related to codes,
processes, and incentives pertaining to the development of ADUs and JADUs in the City.
• Evaluating and assessing the appropriateness of additional incentives to encourage ADU
development.
• Approve permit -ready standard plans to permit new ADU construction to minimize design costs,
expedite permit processing, and provide development certainty for property owners.
Timeframe: Analyze methods within 12 months of Housing Element adoption; Establish programs within 24
months of Housing Element adoption.
Responsible Agency: City of Newport Beach Community Development
Funding Source: General Fund
Section 4: Housing Plan (September 2022 Final Housing Element) 4-9
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action 11: Accessory Dwelling Units Monitoring Program
The City will annually monitor its progress in permitting an average of 30 ADUs annually, for a total of 240
ADUs during the planning period, in conjunction with Annual Housing Element Progress Report. The
analysis will track applications for ADUs, location, affordability, and other important features. If ADU
permitting falls below 20 ADUs for more than two consecutive years, the City re-evaluate the City's ADU
standards and procedures and modify accordingly within 6 months. If actual production of ADUs is far
from anticipated trends, then the City will commit to increasing the capacity or inventory of sites within
six months. This increase in capacity would apply to the proposed rezoning focus areas to demonstrate
the City has remaining capacity to accommodate RHNA need previously assumed through ADU
construction. If actual production is near anticipated trends, then the City will consider additional
outreach and marketing
Timeframe: Ongoing, Annual, Developing Monitoring Program within 6 months of adoptions of Housing Element,
Increase capacity in rezone areas withing 6 months if monitoring program is far from anticipated trends.
Responsible Agency: City of Newport Beach Community Development
Funding Source: General Fund
Policy Action 1J: Accessory Dwelling Units Amnesty Program
The City will establish a program to allow owners with existing unpermitted ADUs to obtain permits to
legalize the ADUs during the 2021-2029 planning period. The Amnesty Program should consist of two
parts: 1) education; and 2) incentives. The intent of Part 1 (education) of the program is to create an
information guide to help educate and inform the importance and benefits of legalizing and bringing their
unpermitted units into compliance. The information guide will include an overview of the necessary life
safety code requirements and improvements that will need to be provided for permit issuance and advice
on how to discuss and ask questions of permitting staff without the risk of Code Enforcement action. The
information guide will also explain how the City's ADU regulations have created an easier path towards
compliance whereas previously not feasible. Part 2 (Incentives) of the program will provide property
owners incentives, such as fee waivers, courtesy inspections, or grants, to encourage property owners to
seek permits to legalize units and make them safe for habitation.
Timeframe: Develop Amnesty Program within 24 months of Housing Element adoption, Target 10 Households
annually to participate in the program.
Responsible Agency: City of Newport Beach Community Development
Funding Source: General Fund
Policy Action 1 K: Inclusionary Housing Policy
The City has a substantial RHNA obligation of affordable housing that will be a challenge to accommodate
due to prevailing project development costs include high land values. Therefore, the City must evaluate
a variety of policy prescriptions that will encourage and facilitate the construction of below market -rate
housing. The City will investigate inclusionary housing policy options as an additional means to provide a
variety of housing types and opportunities for very low, low- and moderate -income households in
Newport Beach. The City will assess and analyze a variety of inclusionary housing policy options,
standards, requirements and regulations to determine the best course of action. Based upon this initial
assessment, the City will determine the appropriateness and application of inclusionary policies, and
Section 4: Housing Plan (September 2022 Final Housing Element) 4-10
City of Newport Beach
2021-2029 HOUSING ELEMENT
adopt policies, programs or regulations that will produce housing opportunities affordable to very low,
low and moderate -income households.
The City has determined that a base inclusionary requirement of 15 percent for new residential
development to be affordable to very low-, low-, and moderate -income households is appropriate as an
interim measure prior to the adoption of a final inclusionary ordinance or policy. The final inclusionary
policy shall address development of rental and for -sale housing affordable to very low, low- and
moderate -income households, as well as the applicability of this requirement and its alternatives.
Timeframe: Adopt interim inclusionary policy within 6 months of Housing Element adoption. Evaluate
Inclusionary options and adopt an Ordinance within 36 months of Housing Element adoption.
Responsible Agency: City of Newport Beach Community Development
Funding Source: General Fund
Housing Goal #2
Quality residential development and preservation, conservation, and appropriate redevelopment of
housing stock.
Housing Policy 2.1: Support all reasonable efforts to preserve, maintain, and improve availability and
quality of existing housing and residential neighborhoods, and ensure full utilization of existing City
housing resources for as long into the future as physically and economically feasible.
Implementation Action:
Policy Action 2A: Neighborhood Preservation
The City will continue to improve housing quality and prevent deterioration of existing neighborhoods by
strictly enforcing applicable Building Code, Fire Code, and Zoning Code regulations and abating Code
violations and nuisances. The City of Newport Beach will continue to prepare a quarterly report on code
enforcement activities in the 61" Cycle.
Timeframe: Ongoing, Semi -Annual
Responsible Agency: City of Newport Beach Community Development
Funding Source: General Fund
Policy Action 2B: Residential Building Record Program
The City will maintain and continue to implement the Residential Building Records (RBR) program to
reduce and prevent violations of building and zoning ordinances by providing a report to all parties
involved in a transaction of sale of residential properties, and providing an opportunity to inspect
properties to identify potentially hazardous conditions, resources permitting. The report provides
information as to permitted and illegal uses/construction, and verification that buildings meet applicable
zoning and building requirements.
The City will continue to implement this program as RBR applications are submitted to the City. The City
will continue to promote the availability of program to the public and local real estate professionals by
maintaining information on its website and developing brochures and other promotional materials.
Section 4: Housing Plan (September 2022 Final Housing Element) 4-11
City of Newport Beach
2021-2029 HOUSING ELEMENT
.-1
Timeframe: Ongoing
Responsible Agency: City of Newport Beach Community Development
Funding Source: General Fund
Policy Action 2C: Preservation of At -Risk Units
There are a number of assisted housing developments or individual housing units within development
that may be at -risk of converting to market rate during the 10-year period from the beginning of the 2021-
2029 Housing Element planning period. "Assisted housing developments" shall mean multifamily rental
housing that receives governmental assistance under federal programs listed in subdivision (a) of
Government Code Section 65863.10, state and local multifamily revenue bond programs, local
redevelopment programs, the federal Community Development Block Grant Program, or local in -lieu fees.
"Assisted housing developments" shall also include multifamily rental units that were developed pursuant
to a local housing program or used to qualify for a density bonus pursuant to Government Code Section
65916. During the planning period, preservation of the assisted housing developments shall utilize, to the
extent necessary, all available federal, state, and local financing and subsidy programs including those
listed above, except where a City demonstrates it has other urgent needs for which alternative funding
sources are not available. The city will include strategies that involve local regulation and technical
assistance, including maintaining registration as a Qualified Preservation Entity with HCD to ensure that
the City will receive notices from all owners intending to opt out of their Section 8 contracts and/or prepay
their HUD -insured mortgages. The City will proactively consult with the property owners identified in
Table 3-31 of the Housing Element and potential preservation organizations regarding use of all federal,
state and local resources to be used for maintaining affordable housing opportunities in those
developments listed in Table 3-31 of Chapter 3 of this Housing Element. The City will provide technical
assistance to non-profit entities for acquisition of the units to ensure long-term affordability, upon
receiving notice that a property owner of an existing affordable housing development intends to convert
the units to a market -rate development. The City will provide specific assistance to owners of these units
by making initial contact within 9 months of Housing Element adoption to identify and coordinate
assistance. The City will provide in -kind assistance, through information dissemination, to assist in
partnering local assisted unit owners with agencies or entities that can provide financial or other
assistance to preserve the affordability of these units.
The Citywill maintain registration as a Qualified Preservation entitywith HCD and continuously implement
the above policy as notices are received from property owners in the 61" Cycle.
Timeframe: Ongoing, as necessary to preserve affordability. Initial contact with owners within 9 months of
Housing Element adoption.
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund, State, Federal funding
Section 4: Housing Plan (September 2022 Final Housing Element) 4-12
City of Newport Beach
2021-2029 HOUSING ELEMENT
Housing Goal #3
A variety of housing types, designs, and opportunities for all social and economic segments.
Housing Policy 3.1: Encourage preservation of existing and provision of new housing affordable to
extremely low-, very low-, low-, and moderate -income households.
Housing Policy 3.2: Encourage housing developments to offer a wide spectrum of housing choices,
designs, and configurations.
Implementation Actions
Policy Action 3A: Objective Design Standards
State Housing law includes various exemptions for projects with an affordable housing component, which
limits the City's ability to apply discretionary design review requirements to certain residential projects.
State Housing law specifies having objective design standards available to apply to housing projects where
the City's discretion over design review is otherwise preempted per State law. The City of Newport Beach
will review existing entitlement processes for housing development and will eliminate discretionary
review for all housing development proposals that include a minimum affordable housing component.
The City will also review the appropriateness of its current development standards to ensure that it
reasonably accommodates the type and density of housing it is intended to support. The City will also
amend existing development standards to replace or remove all subjective standards for projects with a
minimum affordable housing component with objective standards that do not impede the type and
density of housing it is intended to allow.
Timeframe: Adopt standards within 24 months of Housing Element adoption
Responsible Agency: City of Newport Beach Community Development
Funding Source: General Fund
Policy Action 3B: SB 35 Streamlining
The City will establish written procedures to comply with California Government Code Section 65913.4
and publish those procedures for the public, as appropriate, to comply with the requirements of SB 35,
Chapter 366 Statues 2017. These requirements apply at any point in time when the City does not meet
the State mandated requirements, based upon the SB 35 Statewide Determination Summary Report for
Housing Element progress and reporting on Regional Housing Needs Assessment (RHNA)., the City will
process development projects with at least 50 percent affordable units through a streamlined permit
process (i.e., 90 days for projects with up to 150 units). All projects covered by SB 35 are still subject to
the objective development standards of the Newport Beach Municipal Code that includes the Building
and Fire Codes. However, qualifying projects cannot be subject to discretionary review or public hearings;
and in many cases the City cannot require parking. Reduced parking requirements would be established
consistent with the requirements of SB 35 for qualified streamlining projects.
Section 4: Housing Plan (September 2022 Final Housing Element) 4-13
City of Newport Beach
2021-2029 HOUSING ELEMENT
The City currently has consistently exceeded RHNA performance goals during the 5t" Cycle. The City's
status regarding SB 35 could change during the 6t" Cycle dependent upon RHNA progress throughout the
2021-2029 Planning Period.
Timeframe: Adopt procedures within first year of the planning period
Responsible Agency: City of Newport Beach Community Development
Funding Source: General Fund
Policy Action 3C: Preservation of Rental Opportunities
The City will continue to maintain rental housing opportunities by restricting conversions of rental units
to condominiums in a development containing 15 or more units unless the rental housing vacancy rate in
Newport Beach is 5 percent or higher, and unless the property owner complies with condominium
conversion regulations contained in Newport Beach Municipal Code Chapter 19.64. The City's intent is to
ensure no net loss in rental opportunities in existing sites that contain 15 or more units and that the
conversion of rentals do not create an imbalance of opportunity in the community. The City will conduct
an annual vacancy rate survey to support the implementation of this policy.
To protect lower and moderate -income rental housing, the City shall amend the Municipal Code to restrict
the demolition of lower and moderate -income rental housing on sites that provide more than 15 units
unless the units maintain the same income categories after demolition.
Timeframe: Ongoing. Update Municipal Code within 24 months of Housing Element adoption.
Responsible Agency: City of Newport Beach Community Development
Funding Source: General Fund
Policy Action 3D: Priority of Affordable Housing
The City will continue to take all feasible actions, through use of development agreements, expedited
development review, and expedited processing of grading, building and other development permits, to
ensure expedient construction and occupancy for projects approved with lower- and moderate -income
housing requirements. The City will continue to implement this program as affordable housing projects
are submitted to the City.
Timeframe: Ongoing
Responsible Agency: City of Newport Beach Community Development
Funding Source: General Fund
Policy Action 3E: Mortgage Revenue Bonds
The City will continue to participate with the County of Orange in the issuance of tax-exempt mortgage
revenue bonds to facilitate and assist in financing, development, and construction of housing affordable
to low and moderate -income households. The City will continue to implement program per project
submittal as the developer applies for these bonds. The City will adjust this policy to include the promotion
of available bonds to the public and developers in the 6t" Cycle.
Timeframe: Ongoing, Annual
Responsible Agency: City of Newport Beach Community Development
Funding Source: General Fund
Section 4: Housing Plan (September 2022 Final Housing Element) 4-14
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action 3F. Annual Reporting Program
The City will conduct an annual compliance -monitoring program for units required to be occupied by very
low-, low-, and moderate -income households. The City of Newport will complete review by the last
quarter of each year and report within the annual General Plan Status Report including the Housing
Element Report provided to OPR and HCD by April 1st each year.
Timeframe: Ongoing. Annual
Responsible Agency: City of Newport Beach Community Development
Funding Source: General Fund
Policy Action 3G: Entitlement Assistance
The City will provide entitlement assistance, expedited entitlement processing, and waive application
processing fees for developments in which 5 percent of units are affordable to extremely low-income
households. To be eligible for a fee waiver, the units shall be subject to an affordability covenant for a
minimum duration of 55 years. The affordable units provided shall be granted a waiver of park in -lieu fees
(if applicable) and City traffic fair share fees.
The City will continue to implement this program as affordable housing projects are submitted to the City
in the 6th Cycle.
Timeframe: Ongoing
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Policy Action 3H: Prioritization of Affordable Housing Funds
The City will give highest priority for use of Affordable Housing Fund monies to affordable housing
developments providing units affordable to extremely -low-income households and senior households.
The City will continue to implement this program as affordable housing projects are submitted to the City.
The City shall establish objective priorities to allow for the ranking/scoring of future affordable housing
projects so that expenditures that most meet the City's objectives are prioritized for funding.
Timeframe: Ongoing. Establish objective priorities with project ranking/scoring within 16 months of Housing
Element adoption.
Responsible Agency: City of Newport Beach Community Development
Funding Sources: Affordable Housing Fund, based upon available funds
Policy Action 31: Public Information About Affordable Housing
The City will continue to maintain a brochure of incentives offered by the City for the development of
affordable housing including fee waivers, expedited processing, density bonuses, and other incentives. A
copy of this brochure shall be located at the Planning Counter, on the City's website and shall also be
provided to potential developers.
The City will update the brochure as needed to provide updated information regarding incentives
including updated fees and a reference to the most up to date Site Analysis and Inventory.
Section 4: Housing Plan (September 2022 Final Housing Element) 4-15
City of Newport Beach
2021-2029 HOUSING ELEMENT
d
Timeframe: Ongoing
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Policy Action V: Priority in Kind Assistance for Affordability
The City shall provide more assistance for projects that provide a higher number of affordable units or a
greater level of affordability. At least 15 percent of units shall be affordable when assistance is provided
from Community Development Block Grant (CDBG) funds or the City's Affordable Housing Fund. The City
will continue to implement the program as housing projects are submitted to the City in the 61h Cycle.
Timeframe: Ongoing
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Policy Action 3K: Coastal Zone Development Affordability
The City shall follow Government Code Section 65590 and implement Municipal Code Titles 20.34 and
2134 "Conversion or Demolition of Affordable Housing" for new developments proposed in the Coastal
Zone areas of the City. All required affordable units shall have restrictions to maintain their affordability
for a minimum of 55 years.
Timeframe: Ongoing
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Policy Action 3L: Proactive Education and Outreach to Prospective Developers
The City will continue to advise and educate existing landowners and prospective developers of affordable
housing development opportunities available within Banning Ranch, the Airport Area, West Newport
Mesa, Dove r-Westcl iff, Newport Center, Mariners' Mile, and Balboa Peninsula areas. The City of Newport
Beach will continue to implement its program as prospective developers contact the City seeking
development information. The City will maintain designated staff persons that can be contacted to
provide housing opportunity information and incentives for development of affordable housing during
the 6th Cycle.
Timeframe: Ongoing
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Policy Action 3M: Regional Coordination of Housing Issues
The City will continue to participate in other programs that assist production of housing. The City will
attend quarterly OCHA (Cities Advisory Committee) meetings to keep up to date on rehabilitation
programs offered by the County in order to continuously inform homeowners and rental property owners
within the City of opportunities and to encourage preservation of existing housing stock in the 6th Cycle.
Timeframe: Ongoing
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Section 4: Housing Plan (September 2022 Final Housing Element) 4-16
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action 3N: Housing Impact Studies
The City will continue to study housing impacts of proposed larger -scale, significant commercial/industrial
projects during the development review process. Prior to project approval, a housing impact assessment
shall be developed by the City with the active involvement of the developer. Such assessment shall
indicate the magnitude of jobs to be created by the project, where housing opportunities are expected to
be available, and what measures (public and private) are requisite, if any, to ensure an adequate supply
of housing for the projected labor force of the project and any restrictions on development due to the
City "Charter Section 423". The City will continue to implement such program as major
commercial/industrial projects are submitted to the City in the 61" Cycle.
Timeframe: Ongoing
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Policy Action 30: Single Resident Occupancies (SROs)
The City will continue to study housing impacts of proposed larger -scale, significant commercial/industrial
Use State and federal funding to continue to provide assistance and make provisions for development of
single -room occupancy (SRO) housing and other forms of housing for people experiencing homelessness
in the City. The City will ensure that such housing options include reasonable accommodations and
supportive services for people with disabilities. The City will seek to encourage the development of at
least one SRO development within the Planning Period.
Timeframe: Ongoing, with targeted outreach on an annual basis.
Responsible Agency: City of Newport Beach Community Development
Funding Sources:: To be determined as State and federal funding sources become available.
Policy Action 3P: Residential Care Facilities
The City will review and amend the permitting procedures, application requirements, and development
standards applicable to residential care facilities for persons of 7 or more to ensure consistency with state
and federal laws to promote objectivity and greater approval certainty.
Timeframe: By October 2022 and amend the Zoning Code by April 2023 if needed.
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund.
Section 4: Housing Plan (September 2022 Final Housing Element) 4-17
City of Newport Beach
2021-2029 HOUSING ELEMENT
Housing Goal #4
Housing opportunities for as many renter- and owner -occupied households as possible in response
to the market demand and RHNA obligations for housing in the City.
Housing Policy 4.1: Mitigate potential governmental constraints to housing production and affordability
by increasing the City's role in facilitating construction of market -rate housing and affordable housing for
all income groups.
Housing Policy 4.2: Enable construction of new housing units sufficient to meet City quantified goals by
identifying adequate sites for their construction.
mplementation Actions
Policy Action 4A: Affirmatively Furthering Fair Housing
Pursuant to AB 686, Chapter 958, Statutes 2018, the City will affirmatively further fair housing by taking
meaningful actions in addition to resisting discrimination, that overcomes patterns of segregation and
fosters inclusive communities free from barriers that restrict access to opportunity based on protected
classes, as defined by State law.
To accomplish this, the City or designated contracted organization will collaborate with local and regional
organizations to review any housing discrimination complaints, assist in dispute resolution, and, where
necessary, refer complainants to appropriate state or federal agencies for further investigation, action, and
resolution.
Section 3 of this Housing Element contains an analysis of fair housing activities in Newport Beach and the
Orange County region.
The analysis found that:
• The City does not have any racial or ethnic groups that score higher than 60 on the dissimilarity
index, indicating that while the City of Newport Beach has no racial or ethnic populations with a
dissimilarity index above 60, all populations (with the exception of the Hispanic/Latino
population) have a score above 30, meaning all groups experience moderate segregation from
the White population.
• The City does not have any racially or ethnically concentrated census tracts (R/ECAPs) as identified
by HUD. This indicates that there are no census tracts within Newport Beach with a non -white
population of 50 percent or more or any census tracts that have a poverty rate that exceeds
40 percent or is three or more times the average tract poverty rate for the metropolitan/
micropolitan area. However, one R/ECAP was identified in the neighboring City of Irvine, near the
University of California Irvine. This will be considered in the housing plan as students within the
R/ECAP may look for housing in Newport Beach.
Section 4: Housing Plan (September 2022 Final Housing Element) 4-18
City of Newport Beach
2021-2029 HOUSING ELEMENT
• The UC Davis Regional Opportunity Index shows that most residents within Newport Beach have
a high level of access to opportunity throughout the majority of the City, with only two census
tracts showing low access to opportunity.
• The analysis of the TCAC/HCD opportunity Area Maps shows that most census tracts in Newport
Beach are classified with the "Moderate Resource" "High Resource" or "Highest Resource"
designation. This indicates that these census tracts are within the top 40 percent in the region in
terms of areas that lower -income residents may thrive if given the opportunity to live there. All
but two census tracts within Newport Beach register within the top 20 percent in the index. One
census tract registered as a "Low Resource" area, citing high economic opportunity and low
educational opportunity.
• The Opportunity Indices identify overall high access to quality resources including economic and
job proximity, educational access, and transportation access. However, there is a low health
index, indicating increased pollution and low environmental quality across all racial/ethnic groups
in the City. The opportunity indices identify low affordable transportation options to both the
Asian or Pacific Islander (Non -Hispanic) and Native American (Non -Hispanic). Additionally, the
index identified that households who earn below the poverty rate in Newport Beach have lower
levels of opportunity access across all indicators as well as race and ethnicities.
• Racially Concentrated Areas of Affluence (RCAA) are characterized by census tract areas in which
80 percent or more of the population is White and that have a median income of at least
$125,000. There are 12 census tracts within the City that are identified as RCAAs.
• Newport Beach and the State have the same rate of home ownership, but residents of Newport
Beach experience higher rates of cost burden. Housing adequacy and affordability are similar in
both the City and State, where California has a slightly higher rate of affordability.
• Newport Beach scored a 3.9 AIITransit performance score, illustrating a low combination of trips
per week and number of jobs accessible that enable a moderate number of people to take transit
to work. In total, 138,164 jobs are accessible within a 30-minute trip from Newport Beach,
howeverjust 0.55 percent of commuters use transit. By comparison, Newport Beach scored lower
than neighboring jurisdictions of Costa Mesa (5.4), Huntington Beach (4.4), and Irvine (3.6),
however slightly higher than Laguna Beach (3.8). Overall, the City of Newport Beach has a lower
AIITransit score than the County of Orange (3.9) in Newport Beach and 4.2 in the County).
During the planning period, the City will take the following explicit actions to address and implement Fair
Housing issues and to affirmatively further fair housing in the community:
Section 4: Housing Plan (September 2022 Final Housing Element) 4-19
City of Newport Beach
2021-2029 HOUSING ELEMENT
r
Identified Fair
Local Contributing Factors
Table
Geographic
4-1: Fair Housing Actions
Housing Issue
Anti-
The City does not have any
Target
Airport Area,
To help address this issue, the City will
Low
Timeline(s):
Displacement
racially or ethnically
adjacent to UC
take the following actions:
/ Housing
concentrated census tracts
Irvine
By December 2024, the City will aim to
Mobility
(R/ECAPs) as identified by
1. Address potential R/ECAP
adopt amendments to the General Plan
HUD. This indicates that there
and Environmental Justice
to include environmental justice policies
issues by adopting an
that promote a reduction in poverty rate,
are no census tracts within
promote diversity, and require
Newport Beach with a non
amendment to include
consideration of environmental justice
white population of 50
policies addressing
principles in City decision -making.
percent or more or any
environmental justice in the
census tracts that have a
General Plan; and
Evaluative Metric(s):
poverty rate that exceeds
2. Facilitate an annual meeting
1. The City will strive to meet
40 percent or is three or more
annually with representatives
times the average tract
with representatives from
from the City of Irvine and UC
poverty rate for the
the City of Irvine and UC
Irvine to review whether the
metropolitan/ micropolitan
Irvine or other major
R/ECAP is contributing to any
area. However, one R/ECAP
employers to address any
fair housing issues. If
was identified in the
local affects these R/ECAP
determined to be a contributor,
neighboring City of Irvine,
areas may have on
the City will coordinate
near the University of
opportunity for housing in
additional actions that will seek
to reduce or eliminate the
California Irvine. This will be
Newport Beach.
R/ECAP identified adjacent to UC
considered in the housing
Irvine.
plan as students within the
R/ECAP may look for housing
in Newport Beach.
Section 4: Housing Plan (September 2022 Final Housing Element) 4-20
City of Newport Beach
2021-2029 HOUSING ELEMENT
Identified Fair
Local Contributing Factors
Table
Geographic
4-1: Fair Housing Actions
Housing Issue
Access to
The UC Davis Regional
Target
Two census
To help address this issue, the City will
High
Timeline(s):
Opportunity /
Opportunity Index shows that
tracts with low
take the following actions:
Place Based
most residents within
access to
By June 2023, the City will aim to adopt
Strategies
Newport Beach have a high
opportunity.
1. Adopt and codify accessory
revised ADU regulations. By December
level of access to opportunity
In the
dwelling unit (ADU)
2023, the City will conduct two
regulations that facilitate
community workshops that are focused
throughout the majority of
g J y
following
g
within the geographic target.
the City, with portions of only
areas:
and incentivize ADU
two census tracts showing
development beyond State
Evaluative Metric(s):
low access to opportunity.
1. In the
law minimum requirements,
West
create new housing
1. The City will seek to produce 20
Newport
development incentives and
to 30 ADUs per calendar year
Focus
fee waivers, and that provide
within higher resource areas;
Area
for access into areas of high
and
adjacent
opportunity that contribute
2. The City will seek to make
to Hoag
to the following community
contact with at least 50% of the
Hospital
development actions:
households in the affected
2. In the
o Increase residential
census tracts.
Airport
development
Focus
opportunities;
Area,
o Maximize infill
adjacent
development in
to John
"built -out"
Wayne
neighborhoods, and
Airport
o Increase affordable
housing options.
2. Target outreach to the two
census tracts with low access
to opportunity; and
Section 4: Housing Plan (September 2022 Final Housing Element) 4-21
City of Newport Beach
2021-2029 HOUSING ELEMENT
Identified Fair
Local Contributing Factors
Table
Geographic
4-1: Fair Housing Actions
Housing Issue
Target
3. Conduct two community
workshops that will
accomplish the following:
o Identify local issues
that are influencing
low access to
opportunity;
o Identify potential
solutions to address
those local issues;
o Identify
opportunities to
increase the
housing supply for
all income levels;
and
o Establish economic
development
priorities to help
stimulate the
creation of jobs and
access to services.
Access to
The analysis of the TCAC/HCD
Two census
To help address this issue, the City will
Timeline(s):
Opportunity /
opportunity Area Maps shows
tracts with low
take the following actions:
Place Based
that most census tracts in
access to
Starting 2023, the City will annually
Strategies
Newport Beach are classified
opportunity
• Adopt an Inclusionary
review and update its housing -related
"Moderate
Housing Ordinance (See
webpages. Within 6 months of Housing
with the
are in the
Policy Action 1K) to ensure
Element adoption, the City will adopt an
Resource" "High Resource" or
following
lower income units are
interim inclusionary housing policy.
"Highest Resource"
areas:
developed in conjunction
Within 36 months of Housing Element
Section 4: Housing Plan (September 2022 Final Housing Element) 4-22
City of Newport Beach
2021-2029 HOUSING ELEMENT
Identified Fair
Local Contributing Factors
Table
Geographic
4-1: Fair Housing Actions
Housing Issue
designation. This indicates
Target
with new market -rate
adoption, the City will adopt an
that these census tracts are
1. In the
development equitably
inclusionary housing ordinance.
within the top 40 percent in
West
throughout the City and
the region in terms of areas
Newport
higher resource census
Evaluative Metric(s):
tracts;
that lower -income residents
Focus
1. By December 2026, the City will
may thrive if given the
Area
• Target outreach to two low-
aspire to have approved
opportunity to live there. All
adjacent
access census tracts via
between 750 and 1,000
but two census tracts within
to Hoag
mailers or by other means
affordable housing units or to
Newport Beach register
Hospital
including social media to
have collected a commensurate
within the top 20 percent in
2. In the
provide website information
in -lieu affordable housing fee for
the index. One census tract
Airport
about local entrepreneurship
use to subsidize future
and educational
affordable housing projects;
registered as a "Low
Focus
opportunities;
Resource" area, citing high
Area,
2. The City will improve upon its
economic opportunity and
adjacent
• Maintain and promote the
existing Business Ambassador
low educational opportunity.
to John
City's Business Ambassador
Program and will seek to assist at
Wayne
Program to local residents as
least 35-45 persons annually
Airport
a way to support local
with establishing their own
businesses and
business opportunities; and
entrepreneurship; and
3. The Business Ambassador
• Continually update the City's
Program will be advertised
housing related webpages to
within the lower -opportunity
ensure current available
census tracts with a goal of
data.
reaching at least 50% of the
households.
Section 4: Housing Plan (September 2022 Final Housing Element) 4-23
City of Newport Beach
2021-2029 HOUSING ELEMENT
Identified Fair
Local Contributing Factors
Table
Geographic
4-1: Fair Housing Actions
Housing Issue
Housing
Availability of financing
Target
Citywide
To help address this issue, the City will
Medium
Timeline(s):
Mobility
affects a person's ability to
take the following actions:
purchase or improve a home.
By June 2023, the City will provide
Under the Home Mortgage
1. Disseminate online
information to the community about
information to the
home loans and the loan process. By
Disclosure Act (HMDA),
community about home
December 2023 , the City will conduct its
lending institutions are
loans and the loan
first biannual affordable housing
required to disclose
application and approval
workshop with affordable housing
information on the
process;
lenders and local affordable housing
disposition of loan
advocates.
applications and the income,
2. Conduct biannually
gender, and race of loan
affordable housing
Evaluative Metric(s):
workshops with invited
applicants. The primary
guests from the local lending
1. The City will seek to reach
concern in a review of lending
industry and local affordable
between 10,000 and 15,000
activity is to determine
housing advocates; and
households with loan
whether home financing is
information and will further seek
available to residents of a
3. Conduct annual report of
to reduce any occurrence of loan
community.
loan dispositions in the City
disposition discrimination, if
and identify any trends or
found to be prevalent.
According to available data,
issues. Provide findings to
applicants in the 120 percent
local lenders and financial
institutions.
median -income or more had
the highest rates of loans
approved. Of that income
category, applicants who
reported White had the
highest percentage of
approval and the number of
applications. Applicants in the
less than 50 percent of the
MSA/MD median -income
Section 4: Housing Plan (September 2022 Final Housing Element) 4-24
City of Newport Beach
2021-2029 HOUSING ELEMENT
Identified Fair
Local Contributing Factors
Table
Geographic
4-1: Fair Housing Actions
Housing Issue
categories were showed
Target
higher percentages of denied
loans than loans originated.
According to the data,
applicants who reported
white were, on average, more
likely to be approved for a
loan than another race or
ethnicity.
Access to
The majority of the City of
Citywide w/
To help address this issue, the City will
Timeline(s):
Opportunity
Newport Beach is classified as
focus on two
take the following actions:
a high opportunity zone. This
census tracts
Within the first half of the planning
indicates a high level of
in the
• Conduct two public workshops
period, the City will conduct two public
for residents of the two census
workshops on entrepreneurship and job
relative opportunities that
following
tracts identifying as lower
training.
g•
people can achieve as well as
locations:
opportunity;
a high level of relative
Evaluative Metric(s):
opportunities that Newport
1. In the
. Collaborate with the Chamber of
Beach provides.
West
Commerce to disseminate
1. The City will improve upon its
Newport
economic opportunity through
existing Business Ambassador
While most of the census
Focus
entrepreneurship, job training on
Program and will seek to assist at
the City's website;
least 35-45 persons annually with
tracts within the City are
Area
establishing their own business
areas of high opportunity,
adjacent
• Maintain and promote the City's
opportunities; and
there are two census tracts
to Hoag
Business Ambassador Program to
identifying as low
Hospital
local residents as a way to
2. The Business Ambassador Program
opportunity. Together these
2. In the
support local businesses and
will advertised within the lower -
areas contain 86 sites which
Airport
entrepreneurship; and
unity census tracts with a goal
opportunity
Section 4: Housing Plan (September 2022 Final Housing Element) 4-25
City of Newport Beach
2021-2029 HOUSING ELEMENT
Identified Fair
Local Contributing Factors
Table
Geographic
4-1: Fair Housing Actions
Housing Issue
accommodate 1,941 potential
Target
Focus
of reaching at least 50% of affected
units intended to meet the
Area,
• Provide direct contact to
households.
City's RHNA for lower -income
adjacent
residents within the lower
units (shown in Section 3:
to John
opportunity census tracts via
mailers or other means including
Housing Resources and
Wayne
social media to invite them to
outlined in Appendix B).
Airport
workshop.
The data for both regions with
lower opportunity show very
low housing access, but
conversely show high civic
life, health, transportation,
economic and educational
access..
Therefore, the consideration
and identification of these
areas for housing, affordable
to low and very low-income
households will address the
deficiency to housing access
in these otherwise high
opportunity and high
resources areas.
Section 4: Housing Plan (September 2022 Final Housing Element) 4-26
City of Newport Beach
2021-2029 HOUSING ELEMENT
Identified Fair
Local Contributing Factors
Table
Geographic
4-1: Fair Housing Actions
Housing Issue
Access to
Access to education is
Target
Citywide
To further improve access to
High
Timeline(s):
Opportunity
generally above average in
education, the City will take the
Newport Beach. Additionally,
following action:
Beginning 2023, the City will conduct
access to quality education
meetings annually with local educational
system is high among all
1. Conduct an annual meeting
institutions.
racial/ethnic groups (each
with local educational
institutions to discuss
Evaluative Metric(s):
group has an opportunity
housing needs related to
index score above 80).
education
1. The City will leverage the input from
the annual meetings to identify up to
two additional City policies or actions
that will help enhance access to
education.
Place Based
The City of Newport Beach
Citywide, with
To help improve access to transit, the
Medium
Timeline(s):
Strategies /
has a low transit performance
focus on the
City will take the following actions:
Access to
score overall. The City has
Airport Area
Starting with the adoption of the FY23-24
Opportunity
identified low- and very low-
environs.
1. In adopting the annual
Capital Improvement Program , the City
Capital Improvements
will annually consider projects that
income housing opportunity
Program (CIP), the City will
enhance access to transit in the targeted
sites in the Airport Area
seek and consider projects
areas of need. By December 2024, the
Environs in the north, the
that will help improve access
City will consider updating the Land Use
West Newport Mesa Area in
to transit near housing
Element to include policies encouraging
the west, and the Newport
opportunity sites;
denser residential near transit stops.
Center Area in the central
area of the City. While these
2. Maintain a proactive working
Evaluative Metric(s):
partnership with the Orange
three areas of the City have
County Transportation
1. The City will seek improve or trend
low transit performance
Authority (OCTA) to continue
the City's AIITransit Score from 3.9 to
scores, they have high
to plan and coordinate public
5.0 or greater by the end of the
connectivity scores compared
transit routes to serve
Housing Elementplanning period.
to other areas throughout the
existing community facilities
City. Households within these
and future development.
Section 4: Housing Plan (September 2022 Final Housing Element) 4-27
City of Newport Beach
2021-2029 HOUSING ELEMENT
Identified Fair
Local Contributing Factors
Table
Geographic
4-1: Fair Housing Actions
Housing Issue
areas have better access to
Target
Continue to provide local
jobs and key destinations
input on the Long -Range
through transit than those
Transportation Plan (LRTP);
located elsewhere in the City.
and
The majority of the low- and
3. With the Land Use Element
very low-income sites were
Update, the City will consider
strategically located within
policies that would
the Airport Area Environs,
encourage denser housing
West Newport Mesa Area,
projects closer to transit
and the Newport Center Area
stops consistent with the
to take advantage of the
housing opportunity sites
identified in Appendix B.
increased transportation
assets within these areas.
Place Based
The City of Newport Beach
Citywide
To help address this issue, the City will
Medium
Timeline(s):
Strategies /
has very high comparative
take the following actions:
Displacement
rental and sales prices.
By December 2023, the City will revamp
The cost of housing limits
1. Continue to provide quarterly
and provide updated information on the
upward mobility and the costs
and virtual training to
website related to fair housing.
of upkeep, repairs or
landlords and tenants on fair
rehabilitation,
housing requirements
Within 6 months of Housing Element
especially for older housing
including allowable rent
adoption, the City will adopt an interim
units, may be prohibitive for
increases, source of income
inclusionary housing policy.
some segments of the
discrimination, and benefits
population.
of marketing housing units
Within 36 months of Housing Element
for vouchers to expand the
adoption, the City will adopt an
locations of registered units
inclusionary housing ordinance.
in the City. Provide update
information on the City's
Evaluative Metric(s):
website;
Section 4: Housing Plan (September 2022 Final Housing Element) 4-28
City of Newport Beach
2021-2029 HOUSING ELEMENT
Identified Fair
Local Contributing Factors
Table
Geographic
4-1: Fair Housing Actions
Housing Issue
Target
2. Encourage development of
1. Ensure the provision of quarterly fair
ADUs in high opportunity
housing educational workshops
areas through targeted public
conducted by a qualified fair housing
outreach, user-friendly
service provider;
websites, pre -approved
standard plans, fee waivers,
and priority processing; and
2. The City will seek to assist at least 5
households annually through rehab
3. Incentivize development of
assistance. The City will seek to
affordable housing units
abate 75% of major deferred
through inclusionary housing
maintenance incidents during the
policies (Policy 1K).
planning period; and
3. The City will seek to produce 20 to 30
ADUs per calendar year within higher
resource areas.
Access to
There are approximately 12
Citywide,
To help address this issue, the City will
Medium
Timeline(s):
Opportunity
census tracts that are
predominately
take the following actions:
considered racially
in the east and
By June 2024, the City will conduct a
concentrated areas of
along the
1. Conduct summary review of
summary review of RCAA census tracts.
RCAA census tracts to identify
By June 2025, the City will use findings
affluence (RCAA) in the City.
southern and
potential redlining; and
from the study to develop potential
western
policies.
The RCAA areas are clustered
boundaries of
2. Use findings from redlining
throughout the City
the City
study to develop potential
Evaluative Metric(s):
predominately in the east and
ggreenlining policies that can
along the southern and
be employed to benefit RCAA
1. The City will seek to reduce the
western boundaries of the
areas.
incidents of unlawful redlining (if
found) in these RCAA by between 35-
City. The concentrations of
50% during the planning period.
lower income households
located in the northern,
Section 4: Housing Plan (September 2022 Final Housing Element) 4-29
City of Newport Beach
2021-2029 HOUSING ELEMENT
Identified Fair
Local Contributing Factors
Table
Geographic
4-1: Fair Housing Actions
Housing Issue
western, and central areas of
Target
the City are in high income
areas surrounded by RCAAs.
The location of these area
provides affordable housing
opportunities within areas
with high access to resources.
Section 4: Housing Plan (September 2022 Final Housing Element) 4-30
City of Newport Beach
2021-2029 HOUSING ELEMENT
k1-
The City will maintain compliance with Fair Housing Laws and Regulations. The City will annually
review and, if necessary, amend its Municipal Code to comply with State Housing Laws and Fair
Housing Laws and Regulations.
Timeframe: Review annually, amend actions and modify Municipal Code as necessary to continue to affirmatively
further fair housing and comply with State Housing Laws and Fair Housing Laws and Regulations.
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Policy Action 4B: Streamlined Project Review
The City will provide a streamlined "fast -track" development review process for proposed affordable
housing developments. The City of Newport will continue to implement this program as affordable
housing projects are submitted to the City in the 61h Cycle.
Timeframe: Evaluate program features within 24 months, Adopt updated procedures within 36 months of
Housing Element adoption
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Policy Action 4C: Density Bonus and Incentives for Affordable Housing
The City will update its Density Bonus Ordinance (Newport Beach Municipal Code Chapter 20.32) to be
consistent with State Law, as amended. Additionally, the City shall either grant a density bonus as
required by state law if requested, or provide other incentives of equivalent financial value when a
residential developer agrees to construct housing for persons and families of very low, low, and
moderate -income above mandated requirements. The City will continue to implement provisions of
Chapter 20.32, as amended (Density Bonus) of the Zoning Code as housing projects are submitted to the
City during the 6th Cycle. The City will further encourage affordable housing and the potential use of
density bonus statutes to accommodate additional affordable units.
Timeframe: Update to Newport Beach Municipal Code Chapter 20.32 within 12 months of the adoption of this
Housing Element and implement future updates to maintain consistency with applicable State law on an ongoing
basis.
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Policy Action 4D: List of Pre -Approved Development Incentives
The City will develop a pre -approved list of incentives and qualifications for such incentives to promote
the development of affordable housing. Such incentives could include the waiver of application and
development fees or modification to development standards (e.g., setbacks, lot coverage, etc.). The City
will continue to work with the Affordable Housing Task Force to develop the list within the 6th Cycle.
Timeframe: Evaluate program features within 24 months, Adopt procedures within 36 months of Housing
Element adoption
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Section 4: Housing Plan (September 2022 Final Housing Element) 4-31
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action 4E: Airport Area Policy Exceptions for Affordable Housing
The City recognizes that General Plan Policy LU6.15.6 may result in a potential constraint to the
development of affordable housing in the Airport Area, and as a result, the City shall maintain an exception
to the minimum 10-acre village requirement for projects that include a minimum of 30 percent of the
units affordable to lower -income households. It is recognized that allowing a smaller scale development
within an established commercial and industrial area may result in land use compatibility problems and
result in a residential development that does not provide sufficient amenities (i.e., parks) and/or
necessary improvements (i.e., pedestrian walkways). Therefore, it is imperative that the exception
includes provisions for adequate amenities, design considerations for the future integration into a larger
residential village, and a requirement to ensure collaboration with future developers in the area. The City
of Newport Beach will maintain the exception and continue to implement this program as projects are
submitted to the City in the 6t" Cycle.
Timeframe: Ongoing
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Policy Action 4F. Encourage Development of Opportunity Sites
The City will continue to encourage and facilitate residential and/or mixed -use development on sites listed
in Appendix B by providing technical assistance to interested developers with site identification and
entitlement processing. The City will continue to support developers funding applications from other
agencies and programs.
The City shall post the Sites Inventory, as showing in Appendix B on the City's webpage and produce
marketing materials for residential and mixed -use opportunity sites, and it will equally encourage and
market the sites for both for -sale development and rental development. The City shall educate developers
of the benefits of density bonuses and related incentives, identify potential funding opportunities, offer
expedited entitlement processing, and offer fee waivers and/or deferrals to encourage the development
of affordable housing within residential and mixed -use developments. The City will continuously
implement this program as housing projects are submitted to the City. Review and update as necessary
the Site Inventory and provide information to interested developers.
Timeframe: Ongoing
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Policy Action 4G: Annual RHNA Sites Inventory Monitoring
The City will monitor and evaluate the development of vacant and underdeveloped parcels on an annual
basis and report the success of strategies to encourage residential development in its Annual Progress
Reports required pursuant to Government Code 65400. The City of Newport will respond to market
conditions and will revise or add additional sites where appropriate or add additional incentives, if
identified strategies are not successful in generating development interest. The City will include the report
in its annual General Plan Status Report including Housing Element Report to OPR and HCD by April 1st
each year.
Section 4: Housing Plan (September 2022 Final Housing Element) 4-32
City of Newport Beach
2021-2029 HOUSING ELEMENT
,;- �'—
Timeframe: Ongoing, Annual
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Policy Action 4H: Review Mixed -Use Zones
As part of the 2006 Comprehensive General Plan Update and 2010 Zoning Code Update, new mixed -use
housing opportunity zones were created throughout the City as a strategy to enhance and revitalize
underperforming and underutilized properties. These areas included the Airport Area, Dove r/Westcliff,
Newport Center, Mariners Mile, and portions of the Balboa Peninsula. The Airport Area and Newport
Center have proven the most successful with several approved and constructed mixed -use developments,
such as Uptown Newport and Villas Fashion Island. The Balboa Peninsula has had some limited success
while Dover/Westcliff and Mariners' Mile have not proven successful to -date.
Despite the housing opportunity that was created in these areas, a majority of these sites remain
underutilized with a single, non-residential use, such as retail or office. It is evident the City's existing
development standards (e.g., setbacks, height, density, parking, dedications, etc.) related to mixed -use
development may create constraints to the redevelopment of these properties.
Therefore, to ensure that mixed -use opportunities are maximized, the City will review established mixed -
use land use categories and corresponding zoning regulations in the City and recommend policy or code
changes to the City Council that reduce regulatory barriers and incentivize mixed -use residential
development.
Timeframe: Complete the review and provide recommendations to the City Council within 12 months of Housing
Element Adoption, and then complete a review annually thereafter.
Responsible Agency: City of Newport Beach Community Development
Funding Source: General Fund
Policy Action 41: Establish Mixed -Use Resort Opportunities
Mixed -use resorts are an established trend in the hospitality industry that incorporate hotel -branded
residential units as an accessory use located within a resort hotel complex where residents enjoy access
to the full range of services, facilities, and amenities provided by the hotel operator or brand. The
residential use cannot exist without the hotel's services, facilities, and amenities.
The hotel industry has been one of the hardest hit industries due to the COVID-19 pandemic and a full
recovery of the industry is not anticipated for many years. Mixed -use resorts provide an opportunity to
revitalize older or underperforming hotels and maintain their competitive standing by creating multiple
revenue streams.
Economies of scale created by shared facilities, amenities, and services add additional benefit to mixed -
use resort developments. This cross pollination of business benefits both the hotel and the resident. It
may also increase occupancy rates at the resort by creating increased synergy between uses and social
gathering opportunities, boosting transient occupancy taxes while providing in -fill housing opportunities
to partially assist the City in meeting its RHNA obligation in highly desirable and built -out areas.
Section 4: Housing Plan (September 2022 Final Housing Element) 4-33
City of Newport Beach
2021-2029 HOUSING ELEMENT
Incorporating residences also helps to off -set cyclical variations in hotel occupancy rates that can, for
instance, result in seasonal decreases in revenue for the hotel's food and beverage offerings.
Therefore, to further encourage and incentivize the development of mixed -use hotels, the City will
consider policies, regulations and/or interpretations to: 1) clarify ambiguities in General Plan, Zoning
Code, and/or Local Coastal Plan Program provisions to allow hotels and motels, located outside of the
Coastal Commission Appeal Areas, to convert up to thirty percent (30%) of their permitted hotel and motel
rooms into residential units on a one -for -one basis; 2) establish parking programs (e.g., shared parking)
and/or reduced residential parking requirements that mitigate the need for any additional parking due to
the conversion to residential use; 3) require a fiscal impact analysis to disclose and mitigate any reduction
in transient occupancy tax due to a potential conversion; 4) increase the flexibility in use of transfer of
development rights to allow for transfer of unbuilt residential units to hotel sites; 5) require property
owners converting permitted hotel and motel rooms into residential units to mitigate impacts to on
affordable housing production by either constructing affordable housing units within the development or
through a contribution of in -lieu fees; 6) require mitigation of impacts to public access for potential
conversions located within the Coastal Zone; and 7) require property owners converting permitted hotel
and motel rooms into residential units to enter into a development agreement to ensure implementation
of this policy at the project level.
Timeframe: Establish policies, regulations and/or interpretations within 24 months of Housing Element Adoption.
Responsible Agency: City of Newport Beach Community Development
Funding Source: General Fund
Policy Action 4J: Airport Environs Sub Area Environmental Constraints
As discussed in Section 3 (Analysis of Exacerbating Current Conditions), the Airport Area is potentially
exposed to heightened noise and a lower environmental score primarily due to the proximity of John
Wayne Airport.
The City will take the following actions to address potential environmental constraints in the Airport
Environs Sub Area and ensure continued feasibility of sites, particularly for lower -income RHNA:
• Require new residential development projects in the Airport Environs Sub Area provide noise
studies and acoustical analyses to ensure designs include proper sound attenuation;
• Require new residential development projects in the Airport Environs Sub Area to explore
advanced air filtration systems for buildings to promote cleaner air;
• Encourage on -site indoor amenities, such as fitness facilities or recreation and entertainment
facilities; and
• Continue to implement park dedication requirements consistent with the City's Park Dedication
ordinance and Land Use Element Policy LU 6.15.13 (Neighborhood Parks — Standards) and Policy
LU 6.15.16 (On -Site Recreation and Open Space) to ensure adequate recreational space to ensure
at least 8-percent of a project's gross land area (exclusive of existing rights -of -way) of the first
phase for any development in each neighborhood or % acre, whichever is greater, is developed
as a neighborhood park, unless waived through Density Bonus Law.
Section 4: Housing Plan (September 2022 Final Housing Element) 4-34
City of Newport Beach
2021-2029 HOUSING ELEMENT
Timeframe: Ongoing
Responsible Agency: City of Newport Beach Community Development
Funding Source: General Fund
Policy Action 4K. West Newport Mesa Environmental Constraints
As discussed in Section 3 (Analysis of Exacerbating Current Conditions), the West Newport Area is possibly
exposed to heightened noise and pollutants largely due to a historic concentration of industrial type uses
in the area.
The City will take the following actions to address environmental constraints and ensure feasibility of sites,
particularly for lower -income RHNA, in the West Newport Mesa Area:
• Continue to coordinate with the South Coast Air Quality Management District (SCAQMD) and
other responsible regulatory agencies to monitor compliance of industrial operators on an as -
needed basis if any issues are identified;
• Closely examine new light industrial uses that may locate in the area to avoid and mitigate
potential environmental impacts to ensure the use/activity is compatible with nearby residential
uses;
• Provide a Code Enforcement Division response when complaints are made and track the nature of
the complaints; review for trends or patterns that may require stronger enforcement actions to
abate identified nuisances;
• Require implementation of the West Newport Mesa Streetscape Master Plan for new private
development projects and consider including improvement projects in the City's Capital
Improvements Program (CIP);
• Consider including residential -serving commercial as part of a zoning overlay (or similar rezoning
mechanism) to support the future residents and to allow zoning flexibility beyond the underlying
industrial zoning limits as part of the overall rezoning program within 36 months of Housing
Element adoption; and
• Pursue the siting and development of a community center to serve the West Newport area. If a
potential site is identified, the Community Development Department will research the feasibility
from a land use and entitlement perspective and will present findings during at least one study
session with the City Council.
Timeframe: Ongoing
Responsible Agency: City of Newport Beach Community Development
Funding Source: General Fund
Policy Action 4L: Coyote Canyon Environmental Constraints
As noted, the Coyote Canyon property is locates on a closed landfill or is proximate to the landfill. The
bulk of conceptual residential development is sited away from former landfill areas; however, the City
understands the importance of ensuring the health and safety of future residents and the surrounding
neighborhood.
The City will take the following actions to address environmental constraints on the Coyote Canyon landfill
site:
Section 4: Housing Plan (September 2022 Final Housing Element) 4-35
City of Newport Beach
2021-2029 HOUSING ELEMENT
• During the Coyote Canyon project design and entitlement phase, work closely with developer(s)
and property owner(s) to ensure all residential units and construction comply with the proper
building and safety code requirements (e.g., ensure seismic standards are met, provide
appropriately designed landfill gas mitigation); and
• Implement the requirements of California Environmental Quality Act and other applicable
environmental regulations.
Timeframe: Ongoing
Responsible Agency: City of Newport Beach Community Development
Funding Source: General Fund
Housing Goal #5
Preservation of the City's housing stock for extremely low-, very low-, low-, and moderate -income
households.
Housing Policy 5.1: Continue or undertake the following programs to mitigate potential loss of "at risk"
units due to conversion to market -rate units. These efforts utilize existing City and local resources. They
include efforts to secure additional resources from public and private sectors should they become
available.
Housing Policy 5.2: Improve energy efficiency of all housing unit types (including mobile homes).
Implementation Actions
Policy Action 5A: Preservation of Affordability Covenants
The City will contact owners of 19 affordable units approaching the expiration of affordability covenants
to obtain information regarding their plans for continuing affordability on their properties, inform them
of financial resources available, and to encourage the extension of the affordability agreements for the
developments listed beyond the years noted.
The City will conduct an annual compliance monitoring program and a contact list shall be maintained on
City website and updated annually during the 61h Cycle.
Timeframe: Ongoing, as necessary
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Policy Action 5B: Section 8 Participation
The City shall maintain information on the City's website and prepare written communication for tenants
and other interested parties about Orange County Housing Authority Section 8 opportunities and to assist
tenants and prospective tenants acquire additional understanding of housing law and related policy
issues.
The City will attend quarterly OCHA (Cities Advisory Committee) that provide updates on OCHA Section 8
waiting list and housing opportunities to ensure information provided on City website is up to date. If
Section 4: Housing Plan (September 2022 Final Housing Element) 4-36
City of Newport Beach
2021-2029 HOUSING ELEMENT
Section 8 waiting list is opened, promote the availability of the program through marketing materials
made available to the public.
Timeframe: Ongoing, Annual
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Policy Action 5C: Incentivize for Preserving of Affordability Covenants
The City will investigate the potential for providing additional incentives or modify its current policy to
incentivize property owners to maintain the affordability of units on their property during the 6th Cycle.
Timeframe: Investigate and adopt incentives, as appropriate, within 24 months of Housing Element Adoption
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Policy Action 5D: Mobile Home Park Conversions
The City will continue to employ the provisions of NBMC Title 20 provision of the Mobile Home Park
Overlay to maintain and protect mobile home parks in a stable environment with a desirable residential
character. The City will review the existing provisions of the Mobile Home Park Overlay for consistency
with State law in accordance with Government Code Section 65863.7. The City will continue to implement
program as projects are submitted to the City.
Timeframe: Ongoing
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Policy Action 5E: Orange County Housing Authority Advisory Committee
The City of Newport Beach will continue to participate as a member of the Orange County Housing
Authority (OCHA) Advisory Committee and work in cooperation with the OCHA to provide Section 8 Rental
Housing Assistance to residents of the community. The City will continue to attend quarterly OCHA (Cities
Advisory Committee). Continue to maintain information on City's website informing landlords of the
program benefits of accepting Section 8 Certificate holders.
The City will, in cooperation with the Housing Authority, recommend and request use of modified fair -
market rent limits to increase the number of housing units within the City that will be eligible to participate
in the Section 8 program. The Newport Beach Planning Division will prepare and implement a publicity
program to educate and encourage landlords within the City to rent their units to Section 8 Certificate
holders, and to make very low-income households aware of availability of the Section 8 Rental Housing
Assistance Program.
Timeframe: Ongoing
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Section 4: Housing Plan (September 2022 Final Housing Element) 4-37
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action 5F: Water Efficiency for Residential Projects
The City will continue to implement and enforce the Water Efficient Landscape Ordinance and Landscape
and Irrigation Design Standards in compliance with AB 1881 (Chapter 559 Statutes 2006). The ordinance
establishes standards for planning, designing, installing, and maintaining and managing water -efficient
landscapes in new construction and rehabilitated projects. The City will continue to implement such
program as housing projects are submitted to the City. The City will also encourage the retrofit of existing
residential developments to install water efficient appliances and fixtures.
Timeframe: Ongoing
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Policy Action 5G: Energy Efficiency in Residential Projects
The City of Newport Beach will continue to require that any affordable housing developments that receive
City assistance from Community Development Block Grant (CDBG) funds or from the City's Affordable
Housing Fund shall be required, to the extent feasible, to include installation of energy efficient appliances
and devices that will contribute to reduced housing costs for future occupants of the units. The City will
continue to implement program as housing projects are awarded funds from the City in the 6th Cycle.
Timeframe: Ongoing
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund & Community Development Block Grant (CDBG) funds
Housing Goal #6
Housing opportunities for special needs populations.
Housing Policy 6.1: Encourage approval of housing opportunities for senior citizens and other special
needs populations.
Implementation Actionz.
Policy Action 6A: Homeless Program Assistance
In the 5th Cycle, the City was successful in providing funding to local organizations for providing shelter
and services to the individuals experiencing homelessness.
The City will continue to apply annually for United States Department of Urban Development Community
Development Block Grant (CDBG) funds and allocate a portion of such funds to sub -recipients who provide
shelter and other services for the homeless as well as submit Annual Action Plan to HUD in May of each
year.
Timeframe: Ongoing
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Section 4: Housing Plan (September 2022 Final Housing Element) 4-38
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action 6B: Repair Loans and Grant Programs for Seniors, Persons with Physical
and Developmental Disabilities and Lower -Income Households
The City, in partnership with OASIS Senior Center and Habitat for Humanity Orange County, has developed
a Senior Home Repair Assistance Program (SHARP) that is aimed at assisting low-income seniors in need
of critical home repair or modifications due to accessibility needs, safety concerns, health and well-being.
The program is available to homeowners aged 60 and older who fall within the 50t" percentile of the
Orange County median -income.
Additionally, the City will continue to cooperate with the Orange County Housing Authority to pursue
establishment of a Senior/Disabled or Limited Income Repair Loan and Grant Program to underwrite all
or part of the cost of necessary housing modifications and repairs. Cooperation with the Orange County
Housing Authority will include continuing City of Newport Beach participation in the Orange County
Continuum of Care and continuing to provide CDBG funding.
The City will continue to attend quarterly OCHA (Cities Advisory Committee) meetings to keep up to date
on rehabilitation programs offered by the County in order to continuously inform homeowners and rental
property owners within the City of opportunities and to encourage preservation of existing housing stock.
Timeframe: Ongoing
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Policy Action 6C: Leverage CDGB and other Federal Formula Grant Funding
The City receives annual allocation of CDBG and other Federal formula grant funds for use in a variety of
housing -related activities. The City shall make every effort to leverage these annual funds from various
agencies to further the City's housing goals. These may include, but are not limited to, the following State,
Regional and private resources:
State Resources
• State Low -Income Housing Tax Credit Program
• Building Equity and Growth in Neighborhoods Program (BEGIN)
• CalHome Program
• Multifamily Housing Program (MHP)
• Housing Related Parks Grant
• CalHFA Single and Multi -Family Program
• Mental Health Service Act (MHSA) Funding
Regional Resources
• Orange County Housing & Finance Agency (OCHFA) Funding
• Southern California Home Financing Authority (SCHFA) Funding
• Orange County Continuum of Care Program
• Orange County Housing Authority (OCHA) Programs
Private Resources
• Federal Home Loan Bank Affordable Housing Program (AHP)
Section 4: Housing Plan (September 2022 Final Housing Element) 4-39
City of Newport Beach
2021-2029 HOUSING ELEMENT
• Community Reinvestment Act Programs
• United Way Funding
• Private Contributions
• Public -Private Partnerships
In addition, the City of Newport Beach will continue to maintain a list of "Public and Private Resources
Available for Housing and Community Development Activities" and maintain a list of resources on City
website and update as necessary in the 61h Cycle.
Timeframe: Ongoing
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Policy Action 6D: Child Daycare Facilities
The City will continue to encourage the development of daycare centers as a component of new
affordable housing developments and grant additional incentives in conjunction with the review and
approval of density bonus projects pursuant to NBMC Chapter 20.32 (Density Bonus).
Timeframe: Modify
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Policy Action 6E: Housing Assistance for Seniors
The City of Newport Beach was successful in assisting the funding of senior housing services through the
5th Cycle. The City shall continue to encourage senior citizen independence through the promotion of
housing and services related to in -home care, meal programs, and counseling, and maintain a senior
center that affords seniors opportunities to live healthy, active, and productive lives in the City.
The City will encourage and approve senior housing developments if there is a market demand provided
the projects include appropriate support services including transportation. Projects that provide housing
and services for low- and moderate -income seniors shall take precedence over market -rate senior
housing.
The City will continue to provide social services, support groups, health screenings, fitness classes, and
educational services at the City's OASIS Senior Center or other facilities and offer affordable ride -share
transportation and meal services to seniors who are unable to drive and/or prepare their own meals or
dine out and have little assistance in obtaining adequate meals during the 6th Cycle.
Timeframe: Ongoing
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Policy Action 6F. Emergency Shelters, Transitional and Supportive Housing
To comply with State law, the City of Newport Beach will amend certain sections of its Municipal Code to
address the following requirements:
Section 4: Housing Plan (September 2022 Final Housing Element) 4-40
City of Newport Beach
2021-2029 HOUSING ELEMENT
• Supportive Housing Streamlined Approvals (AB 2162) - To comply with AB 2162 (Chapter 753,
Statues 2018), the City of Newport Beach will amend its Municipal Code to permit supportive
housing as a use permitted by right in all zones where multiple family and mixed -use development
is permitted.
• Emergency and Transitional Housing Act of 2019 (AB 139) — The City will update its Municipal
Code to comply with the requirements of Gov Code 65583 to address permit requirements,
objective standards, analysis of annual and season needs, and parking and other applicable
standards and provisions.
• Amend the City of Newport Beach Municipal Code to comply with the definitions for "Supportive
Housing," Supportive Services," "Target Population" consistent with applicable sections of the
California Government Code.
• Amend the Newport Beach Municipal Code to ensure Emergency Shelters, Transitional and
Supportive Housing are permitted in appropriate zones, consistent with State law.
Timeframe: Adopt Code Amendments within the first year of the planning period.
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Policy Action 6G: Senior Housing Priority Program
The City has an aging population that will require affordable housing options for its existing and future
retirement age population. The City seeks to develop explore the feasibility and appropriateness of
proactive policies and programs to address and prioritize the needs of its senior population.
The City will strategically collaborate with the local senior community and organizations providing senior
services to evaluate existing programs, policies, procedures and funding priorities. Upon completion of
this initial assessment and determination if there are feasible and practical approaches, the City will
develop a comprehensive prioritization program for Senior Housing. The prioritization program will
establish the specific methodologies for priority ranking, criteria, scoring and related new policies,
programs, regulations and incentives as appropriate.
Timeframe: Study and evaluate existing policies within 24 months of Housing Element adoption. Establish formal
policies, programs and regulations within 36 months of Housing Element adoption If deemed practical and
feasible during initial study.
Responsible Agency: City of Newport Beach Community Development
Funding Source: General Fund
Housing Goal #7
Equal housing opportunities in the City for all people.
Housing Policy 7.1: Support fair and equal housing opportunities, and environmental justice
considerations for all housing opportunities in the City.
Section 4: Housing Plan (September 2022 Final Housing Element) 4-41
City of Newport Beach
2021-2029 HOUSING ELEMENT
Implementation Actions
Policy Action 7A: Supportive Housing / Low Barrier Navigation Centers
State law has been updated to require approval 'by right' of supportive housing with up to 50 units and low
barrier navigation centers that meet the requirements of State law. Low barrier navigation centers are
generally defined as service -enriched shelters focused on the transition of persons into permanent housing.
Low barrier navigation centers provide temporary living facilities will persons experiencing homelessness
to income, public benefits, health services, shelter, and housing. To comply with State law, the City of
Newport Beach will adopt policies, procedures, and regulations for processing this type of use to establish
a non -discretionary local permit approval process that must be provided to accommodate supportive
housing and lower barrier navigation centers per State law. In the interim, any submitted application for
this use type will be processed in accordance with State law.
The City will provide for annual monitoring of the effectiveness and appropriateness of existing adopted
policies. Should any amendments be warranted to existing policies pursuant to State law, the City will
modify its existing policies, as appropriate.
Timeframe: Adopt Code Amendments within first year of the planning period.
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Policy Action 7B: Transitional and Supportive Housing
In compliance with Senate Bill 2 (Chapter 364, Statutes 2017) and SB 745 Chapter 185, Statutes 2013 ) the
City will ensure the Zoning Code is amended to encourage and facilitates emergency shelters and limits
the denial of emergency shelters and transitional and supportive housing under the Housing
Accountability Act. This Program would permit transitional and supportive housing by -right in all zones
allowing residential uses, subject onlyto those regulations that apply to other residential uses of the same
type in the same zone. In addition, the Zoning Code will be amended to define "supportive housing,"
"target population" and "transitional housing" pursuant to state law. The City will continue to monitor
the inventory of sites appropriate to accommodate transitional and supportive housing and will work with
the appropriate organizations to ensure the needs of homeless and extremely low-income residents are
met. The City is committed to prioritizing funding and other available incentives for projects that provide
housing for homeless and extremely low-income residents whenever possible.
Timeframe: Adopt Code Amendments within 12 months of Housing Element adoption within the first year of the
planning period.
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Policy Action 7C: Housing for Persons with Developmental Disabilities
The housing needs of persons with developmental disabilities are typically not fully addressed by local
zoning regulations. Persons with disabilities may require, in addition to basic affordability, slight
modifications to existing units, and in some instances, a varying range of supportive housing facilities. To
Section 4: Housing Plan (September 2022 Final Housing Element) 4-42
City of Newport Beach
2021-2029 HOUSING ELEMENT
accommodate residents with developmental disabilities, the City will review and prioritize housing
construction and rehabilitation including supportive services targeted for persons with developmental
disabilities.
Newport Beach will also explore the granting of regulatory incentives, such as expedited permit
processing, and fee waivers and deferrals, to projects targeted for persons with developmental
disabilities. To further facilitate the development of units to accommodate persons with developmental
disabilities, the City will encourage development of projects targeted for special needs groups. As housing
is developed or identified, Newport Beach will collaborate with the Regional Center of Orange County
(RCOC) to implement an outreach program informing families within the City of housing and services
available for persons with developmental disabilities. The City will provide information at City Hall and on
the City's website.
Timeframe: Adopt Code Amendments within 24 months of Housing Element adoption
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Policy Action 7D: Fair Housing Services
The City was successful in reaching out to the community about fair housing services during the 51h Cycle.
The City of Newport Beach will continue to contract with an appropriate fair housing service agency for
the provision of fair housing services for Newport Beach residents. The City will also work with the fair
housing service agency to assist with the periodic update of the Analysis of Impediments to Fair Housing
document required by HUD. The City will continue to provide a minimum of two public outreach and
educational workshops a year, and distribute pamphlets containing information related to fair housing in
the 6th Cycle.
Timeframe: Ongoing
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Housing Goal #8
Effective and responsive housing programs and policies.
Housing Policy 8.1: Review the Housing Element on a regular basis to determine appropriateness of goals,
policies, programs, and progress of Housing Element implementation.
Implementation Actions
Policy Action 8A: Annual Reporting Program
The City of Newport Beach shall report on the status of all housing programs as part of its annual General
Plan Review and Annual Progress Report (APR). The Annual Progress Report discusses Housing Programs
and is submitted to the California Department of Housing and Community Development in accordance
with California state law. The City will continue to annually report its efforts within the annual General
Plan Status Report including Housing Element Report provided to OPR and HCD by April 1st each year.
Section 4: Housing Plan (September 2022 Final Housing Element) 4-43
City of Newport Beach
2021-2029 HOUSING ELEMENT
.-1
Timeframe: Ongoing, Annual
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
Policy Action 8B: Water and Sewer Service Providers
Pursuant to SB 1087, Chapter 727, Statues of 2005, the City of Newport Beach is required to deliver its
adopted housing element and any amendments thereto to local water and sewer service providers. This
legislation allows for coordination between the City and water and sewer providers when considering
approval of new residential projects, to ensure that the providers have an opportunity to provide input
on the Element. Additionally, review of the Housing Element ensures that priority for water and sewer
services is granted to projects that include units affordable to lower -income households. The City will
submit the adopted 61h Cycle Housing Element to local water and sewer providers for their review and
input.
Timeframe: Transmit document immediately upon adoption of future amendment
Responsible Agency: City of Newport Beach Community Development
Funding Sources: General Fund
+ummary of Quantified Objectives
The 2021-2029 Regional Housing Needs Assessment (RHNA) determined the City of Newport Beach had a
construction need for 4,845 residential units between October 15, 2021 and October 15, 2029. The
forecasted need by income group includes:
• Very Low -Income (0-50% County MR);
• Low -Income (51-80% County MFI);
• Moderate -Income (81-120% County MFI); and,
• Above Moderate -Income (>120% County MR)
Additionally, the City has goals to rehabilitate and preserve its existing inventory of housing units. As
required by State housing law, quantified objectives by income group for the 2021-2029 planning period
are summarized in this section. The quantified objectives represent the target number of housing units
that the City anticipates will be constructed, rehabilitated, or preserved over the 2021-2029 planning
period.
Section 4: Housing Plan (September 2022 Final Housing Element) 4-44
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table 4-1: Quantified Objective Summary
Quantified Objective
Extremely Low
Very Low
Low
Moderate
Above
Moderate
Housing Production
Accessory Dwelling Units
163
72
5
RHNA Sites
1,456
930
1,050
1,409
Rehabilitation
5
5
10
284
00
Preservation
95
77
86
10
00
Source: City of Newport Beach
Section 4: Housing Plan (September 2022 Final Housing Element) 4-45
City of Newport Beach
2021-2029 HOUSING ELEMENT
The following chart is a review of the City's housing project and program performance in the 2014-2021 Planning cycle. It is an evaluation of the
51h cycle's Policy Program and considers all current and existing programs and projects as well as the most current accomplishments and
effectiveness and appropriateness.
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
Policy 1.1
Support all reasonable efforts to preserve, maintain, and improve availability and quality of existing housing and residential neighborhoods, and ensure full
utilization of existing City housing resources for as long into the future as physically and economically feasible.
1.1.1
Prepare quarterly report
The building inspectors and code enforcement
Ongoing
Improve housing quality and
on code enforcement
officers continually enforce code regulations,
In accordance with State Law, the
prevent deterioration of existing
activities
abatement violations, and nuisances.
City will continue to enforce
neighborhoods by strictly enforcing
The City conducts quarterly reports on code
Building Code regulations and
Building Code regulations and
enforcement activities and keeps them on file at City
address violations and nuisances.
abating Code violations and
Hall.
nuisances.
• In 2020, the City Council awarded funding for the
Senior Home Assistance Repair Program.
1.1.2
Through Code
On April 29, 2015, the City published Request for
Ongoing
Investigate the use of federal funds
Enforcement notifications
Proposal (RFP) No. 15-55 for use of the City's
During the 51h Cycle Planning
and local funds, including
and correction activities,
Affordable Housing Fund toward affordable housing
Period, the City was successful in
Community Development Block
attempt to identify
development or programming. Three projects
providing additional funding to 3
Grants (CDBG) and the Affordable
property owners in need of
received approval of the funding from City Council on
projects that resulted in new
Housing Fund, to provide technical
financial assistance and
November 24, 2015:
affordable housing units for low -
and/or financial assistance, if
overall resource allocation
income seniors and veterans and in
necessary, to existing lower- and
for a rehabilitation
1. Senior Home Assistance Repair Program
the rehabilitation of residences
moderate -income, owner
program. Attend quarterly
SHARP - An agreement with Habitat for
belonging to lower income seniors.
Humanity Orange County (Habitat OC) granted
occupants of residential properties
OCHA (Cities Advisory
up to $600,000 for critical home repair for low -
The City will continue to seek
through low -interest loans or
Committee) meetings to
funding opportunities from federal
income seniors. The total the City has used the
emergency grants to rehabilitate
keep up to date on
program to date is $243,466 for a total of 11
and local funds for lower- and
and encourage the preservation of
rehabilitation programs
moderate -income households. This
existing housing stock.
offered by the County and
projects.
will continue assisting seniors and
o In 2020, the program worked on 2 projects
investigate the availability
and expended a total of $9,222.11. Projects
lower income households in
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-1
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
of federal funds in February
included home weatherization, roof repair
maintaining their homes and
of each year, when new
and accessibility modifications. The total
incentivizes developers to create
funding opportunities are
we have used in the program to date is
affordable housing for the
typically announced.
$228,023 for a total of 11 projects.
community.
0 In 2019, the City worked on 2 projects and
expended a total of $30,682. Projects
included home weatherization, roof repair
and accessibility modifications.
0 In 2018, there was $194,000 spent with 8
projects completed and 1 in the process at
the end of the year. These projects include
repairing and weatherizing roofing,
bringing landscaping up to code, repairing
stairs and railings, and replacing furnaces
and windows.
0 In 2017, the first project was completed in
West Newport in March 2017. The second
project was completed in Corona del Mar in
October 2017. The third and fourth
projects were close to completion in
Bayview and Santa Ana Heights in
December 2017. Additionally, there were 3
projects in the application process in 2017
in West Newport Mesa, Bayside Village,
and Peninsula Point.
0 In 2016, the first project was funded and
underway in West Newport in December
2016 to repair the following: siding, roof,
paint, chimney, faucets, outlets, smoke and
carbon monoxide detectors. Anticipated
completion is early 2017. The second
project was in the initial inspection phases
at a Santa Ana Heights residence for
exterior clean-up items to address code
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-2
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
enforcement issues such as landscape,
garage door, paint and a broken window
2. An agreement with Community Development
Partners granting $1,975,000 to assist with the
acquisition, rehabilitation and conversion of an
existing 12-unit apartment building located at
6001 Coast Boulevard for affordable housing — 6
for low-income veterans and 6 with a priority for
low-income seniors and veterans (The Cove,
formally known as the Newport Veterans
Project). In June 2017, the project closed on
construction financing. Building permits were
issued and construction began in July 2017. The
lease -up of the units were completed in 2018.
3. Seaview Lutheran Plaza Protect — Seaview
Lutheran Plaza was awarded $1.6 million to
assist with the rehabilitation of an existing 100-
unit apartment building that is affordable to low-
income seniors located at 2800 Pacific View
Drive. On July 26, 2016, the City and Seaview
Lutheran entered into an affordable housing
grant agreement for $800,000 of the award for
upgrades to existing bathrooms. The design and
permits were approved late 2016 and
construction was underway throughout 2017. By
spring 2018 all 100 units were complete. The
grant agreement extended the affordability
requirement through 2069. Subsequent to the
grant, Seaview Lutheran decided to not pursue
the remaining $800,000 for a loan 3 PROGRAM
STATUS agreement. Therefore, this money
remains in the City's affordable housing account.
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-3
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
1.1.3
Use Chapter 20.34
On October 29, 2019, the Community Development
Removed
Require replacement of housing
"Conversion or Demolition
Director determined that Newport Beach Municipal
This policy action is no longer being
demolished within the Coastal Zone
of Affordable Housing" to
Code (NBMC) Chapters 20.34 and 21.34 (Conversion
considered at this time. The City is
when housing is or has been
implement Program
of Demolition of Affordable Housing) are no longer
continuing to look for ways to
occupied by very low—, low-, and
continuously as projects
required. These chapters of the NBMC implement the
protect and create affordable
moderate -income households
are submitted.
Mello Act (Government Code Sections 65590 -
housing through the 61h Cycle Policy
within the preceding 12 months.
65590.1 Low- and Moderate -Income Housing Within
Actions and Sites Inventory.
The City shall prohibit demolition
the Coastal Zone). The regulations require the
unless a determination of
replacement of housing units lost within the coastal
consistency with Government Code
zone that are occupied by low- and moderate -income
Section 65590 has been made. The
households under certain circumstances when
specific provisions implementing
feasible. Both the NBMC and the Mello Act provide
replacement unit requirements are
when there is less than 50 acres in aggregate, of
contained in Chapter 20.34 of the
privately owned, vacant land available for residential
Municipal Code.
use within the City's coastal zone, and 3 miles
therefrom, the replacement requirement is not
required.
The Planning Division completed a land use inventory
in October 2019 to determine if 50 aggregate acres
of privately owned, vacant land is available for
residential use within the City's coastal zone and
within 3 miles inland of the coastal zone. The
inventory conducted found less than 50 qualifying
acres.
1.1.4
Continuously implement
This City report allows the City to verify that its
Ongoing
The City will continue to implement
program as RBR
residential buildings meet zoning and building code
The City will continue
the Residential Building Records
applications are submitted
requirements, life safety requirements as set forth by
implementing the RBR program
(RBR) program to reduce and
to the City. Promote the
the City's Municipal Code and fulfill the State's
through the 6`h Planning Cycle. This
prevent violations of building and
availability of program to
requirement that all homes have both smoke
allows the City to track the sale of
zoning ordinances by providing a
the public and local real
detectors and seismic strapping of water heaters
properties, ensure the home meets
report to all parties involved in a
estate professionals by
(California Health and Safety Code, Section 19211).
Code regulations for life and safety
transaction of sale of residential
maintaining information on
• In 2020, there were 1,629 RBRs processed.
purposes, and provide new
properties and providing an
website and developing
homeowners with detailed
opportunity to inspect properties to
brochure and other
• In 2019, there were 1,405 RBRs processed.
information on the permitting
identify potentially hazardous
promotional materials.
• In 2018, there were 1,059 RBRs processed.
history of their property.
conditions, resources permitting.
• In 2017, there were 1,547 RBRs processed.
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-4
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
The report provides information as
• In 2016, there were 1,447 RBRs processed.
to permitted and illegal
• In 2015, there were 1,432 RBRs processed.
uses/construction, and verification
• In 2014, there were 1,392 RBRs processed.
that buildings meet zoning and
building requirements, including life
safety requirements.
Policy 2.1
Encourage preservation of existing and provision of new housing affordable to extremely low-, very low-, low-, and moderate -income households.
2.1.1
Complete a vacancy rate
A vacancy rate survey is completed upon receiving an
Modified. This program was
Maintain rental opportunities by
survey upon submittal of
application for the conversion of 15 or more rental
ongoing during the 5tn cycle;
restricting conversions of rental
condominium conversion
units to condominiums. Between 2014 and 2020 no
however, no projects of this nature
units to condominiums in a
application of 15 or more
project of 15 or more units were submitted.
were submitted. The program is
development containing 15 or more
units.
important in retaining the City's
units unless the vacancy rate in
existing rental housing and will be
Newport Beach for rental housing is
continued in the 6t" cycle with
an average of 5 percent or higher for
appropriate modifications.
4 consecutive quarters, and unless
the property owner complies with
condominium conversion
regulations contained in Chapter
19.64 of the Newport Beach
Municipal Code.
2.1.2
Continuously implement
Pending applications that include affordable housing
Ongoing
Take all feasible actions, through
program as affordable
will be expedited.
The City will continue to promote
use of development agreements,
housing projects are
the development of affordable
expedited development review, and
submitted to the City.
2020: Newport Airport Village
housing by expediting the
expedited processing of grading,
• 2020: Residences at 4040 Von Karmen 2019: 4
development process. The
building and other development
very low-income applications submitted (1 ADU
Regional Housing Needs Allocation
permits, to ensure expedient
and 3 multi -unit).
(RHNA) requires the City to add
construction and occupancy for
• 2018: 3 very low-income applications submitted
2,381 lower income homes and
projects approved with lower- and
(3 ADUs).
1,048 moderate income homes;
moderate -income housing
this policy action incentivizes the
requirements.
development of such housing.
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-5
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
2.1.3
Continuously implement
The issuance of tax-exempt mortgage revenue bonds
Modify
Participate with the County of
program per project
is project driven, and the developer typically applies
The City will continue to incentivize
Orange in the issuance of tax-
submittal as the developer
for the bonds.
the development of affordable
exempt mortgage revenue bonds to
applies for these bonds.
No applications were received, 2020-2014.
housing units; however, the policy
facilitate and assist in financing,
will be adjusted to include the
development and construction of
promotion of available bonds to
housing affordable to low and
the public and developers.
moderate -income households.
2.1.4
Complete review by the
Annual compliance monitoring has been conducted
Ongoing
Conduct an annual compliance-
last quarter of each year
for 2014-2020 and the report for the City's income-
The City will continue to maintain
monitoring program for units
and report within the
and rent -restricted units by Priscila Davila &
the availability of affordable
required to be occupied by very low-
annual General Plan Status
Associates, Inc. (consultant) found all units in
housing units for lower income and
low-, and moderate -income
Report including Housing
compliance.
moderate -income households.
households.
Element Report provided
to OPR and HCD by April 1st
each year.
2.1.5
Continuously implement
In 2018 the building permit fees were waived for the
Ongoing
Provide entitlement assistance,
program as affordable
Seaview Lutheran Plaza Project. Planning staff
The City, in accordance with recent
expedited entitlement processing,
housing projects are
assisted as a liaison between the applicant and the
updates to State Law, will continue
and waive application processing
submitted to the City.
Building Division to assist in resolving Building Code
to promote the development of
fees for developments in which
issues during the plan check process for the Seaview
affordable housing by committing
5 percent of units are affordable to
Lutheran Plaza Project and assisted with coordinating
to taking actions within the 2021-
extremely low-income households.
plan check and expediting permitting for the
2029 Housing Element to expedite
To be eligible for a fee waiver, the
Newport Beach Veterans project.
the entitlement process.
units shall be subject to an
affordability covenant for a
minimum duration of 30 years. The
affordable units provided shall be
granted a waiver of park in -lieu fees
(if applicable) and traffic fairshare
fees.
2.1.6
Continuously implement
In 2020, the City released an RFQ for Permeant
Ongoing
Affordable housing developments
program as affordable
Supportive Housing consultant to assist the City in
The City will continue to prioritize
providing units affordable to
housing projects are
developing a PSH.
the creation or conversion of
extremely low-income households
submitted to the City.
See status of Program 1.1.2.
housing units for extremely low -
shall be given the highest priority for
income households.
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-6
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
use of Affordable Housing Fund
monies.
Policy 2.2
Encourage the housing development industry to respond to existing and future housing needs of the community and to the demand for housing as perceived by
the industry.
2.2.1
Update brochure as
A brochure is maintained and provided on the City
Ongoing
Maintain a brochure of incentives
needed to provide updated
website and in the public lobby.
The City will continue to promote
offered by the City for the
information regarding
affordable housing to the
development of affordable housing
incentives including
community. The City will continue
including fee waivers, expedited
updated fees and a
in the 6th Cycle planning period to
processing, density bonuses, and
reference to the most up to
pursue methods of outreaching to
other incentives. Provide a copy of
date Site Analysis and
the local development community,
this brochure at the Planning
Inventory.
including non-profit developers, to
Counter, the website and also
explore partnerships.
provide a copy to potential
developers.
2.2.2
Continuously implement
The City provides financial assistance based on a
Ongoing
The City shall provide more
program as housing
project by project analysis, depending on need and
The City will continue to provide
assistance for projects that provide
projects are submitted to
overall project merits.
assistance, through CDBG funds or
a higher number of affordable units
the City.
the City's Affordable Housing Fund,
or a greater level of affordability. At
This program was considered in evaluating the
for projects that provide a higher
least 15 percent of units shall be
proposals for the RFP and choosing the projects
number of affordable housing
affordable when assistance is
described in Program 1.1.2.
units.
provided from Community
Development Block Grant (CDBG)
funds or the City's Affordable
Housing Fund.
2.2.3
Use Zoning Code Chapter
See status of Program 1.1.3.
Ongoing
For new developments proposed in
20.34 "Conversion or
The City uses NBMC Chapter 20.34 Conversion or
The City will continue to ensure the
the Coastal Zone areas of the City,
Demolition of Affordable
Demolition of Affordable Housing by monitoring
number of affordable housing
the City shall follow Government
Housing" to implement this
demolition requests and permits. One applicable
options within the City is not
Code Section 65590 and Title 20.
program continuously as
project (PA2018-051) was submitted in 2018
th
decreased. The 6 Cycle RHNA
All required affordable units shall
projects are submitted.
requesting the demolition of 4 units; none of the 4
calculations add to the number of
have restrictions to maintain their
units were found to be occupied by low- or
needed affordable housing units,
moderate -income households.
therefore maintaining the
affordability of units does not add
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-7
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
affordability for a minimum of 30
Resulting from Mello Act Compliance for the Echo
to the amount the City must
years.
Beach project approved in 2014, 6 existing studio
develop between 2021 and 2029.
units at 305 E. Bay Avenue were remodeled and
converted to very low and low-income rental units in
2016. The units were available to rent in 2017.
2.2.4
Continuously implement
Staff continues to include this affordability restriction
Ongoing
All required affordable units shall
program as housing
as a standard condition on all affordable housing
The City will continue to maintain a
have restrictions to maintain their
projects are submitted to
projects, unless an otherwise longer affordability
30-year minimum restriction for
affordability for a minimum of 30
the City.
covenant is agreed upon.
affordable housing units to protect
years.
On February 21, 2019, the 350-unit Newport
residents currently residing in such
Crossings Mixed -Use Project was approved, which
units and, in conjunction with other
includes 78 units affordable to low-income
policy actions, incentivize the
households. 52 units were restricted for a term of 55
development of affordable housing
years in compliance with density bonus law and the
in the City.
remaining 26 non -density bonus units were
restricted for a term of 30 years.
The Newport Veterans project has an affordability
requirement of 50 years and the Seaview Lutheran
project will add 30 additional years to their existing
requirement, resulting in a new expiration date of
2069.
2.2.5
Continuously implement
A brochure has been created and distributed that
Ongoing
Advise and educate existing
program as prospective
outlines development incentives and entitlement
The City will continue to promote
landowners and prospective
developers contact City
assistance available in the City. The brochure is
affordable housing sites to
developers of affordable housing
seeking development
maintained at the public counter in Bay C at the Civic
prospective developers. The 61h
development opportunities
information. Maintain a
Center and on the City website.
Cycle Housing Element will identify
available within the Banning Ranch,
designated staff person
opportunity sites for housing that
Airport Area, Newport Mesa,
that can be contacted to
should be actively presented to
Newport Center, Mariners' Mile,
provide housing
developers through this policy
West Newport Highway, and Balboa
opportunity information
action.
Peninsula areas.
and incentives for
development of affordable
housing.
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-8
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
2.2.6
Attend quarterly OCHA
City staff attends Orange County Housing Authority
Ongoing
Participate in other programs that
(Cities Advisory
(OCHA) Cities Advisory Committee meetings to keep
The City will continue to participate
assist production of housing.
Committee) meetings to
up-to-date with programs that assist in the
in OCHA meetings and programs
keep up to date on
production of housing.
that assist in the production of
rehabilitation programs
housing. This policy action is
offered by the County in
necessary in order to achieve other
order to continuously
actions (2.2.1) that inform the
inform homeowners and
public of funding opportunities and
rental property owners
programs to further develop the
within the City of
City's housing stock.
opportunities and to
encourage preservation of
existing housing stock.
2.2.7
Provide a copy of the
In 2017, the Newport Crossings Mixed -Use project, a
Ongoing
New developments that provide
Housing Element to water
350-dwelling unit mixed -use development, was
The City will continue to incentivize
housing for lower -income
and sewer service
submitted within the Airport Area under the
the production of affordable
households that help meet regional
providers. Pursuant to
Residential Overlay of the Newport Place Planned
housing units by prioritize the
needs shall have priority for the
state law, water and sewer
Community. The proposed project includes 78
allocation of resources towards
provision of available and future
providers must grant
dwelling units affordable to low-income households.
new development that provide
resources or services, including
priority to developments
The Environmental Impact Report (EIR) was certified
housing for lower income
water and sewer supply and
that include housing units
households.
services.
affordable to lower -income
and the project was approved by the Planning
households which is
Commission on February 21, 2019. The EIR concluded
implemented continuously
that adequate water and sewer capacity exist to
as these projects are
support the development. The plan check for
submitted.
construction drawing review was submitted on
November 17, 2020, with building permit issuance
expected in Summer 2021.
2.2.8
Continuously implement
Implemented as projects are submitted. Density
Ongoing
Implement Chapter 20.32 (Density
program as housing
bonus information and incentives are included in an
In accordance with State Law, the
Bonus) of the Zoning Code and
projects are submitted to
informational brochure available to the public.
City will continue to provide
educate interested developers
the City.
In 2017, the Newport Crossings Mixed -Use project, a
density bonuses to developments
about the benefits of density
350-dwelling unit mixed -use development, was
that provide housing to lower -
bonuses and related incentives for
submitted within the Airport Area under the
income households. This action
the development of housing that is
proved successful during the 5`"
Residential Overlay of the Newport Place Planned
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-9
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
affordable to very low-, low-, and
Community. In exchange for providing 78 units
Planning Cycle as 3 projects applied
moderate -income households and
affordable to low-income households, the developer
for density bonuses that resulted in
senior citizens.
has requested a density bonus of 91 units (35 percent
the creation of 94 affordable
bonus), an incentive to allow for flexibility with unit
housing units for lower -income
mix, and a development waiver of building height.
households.
The Environmental Impact Report (EIR) was certified
and the project was approved by the Planning
Commission on February 21, 2019.
In December 2019, an application was submitted for
a new mixed -use development located at 2510 West
Coast Highway that includes the development of 36
dwelling units, 3 of which would be restricted for very
low-income households. In exchange for providing
the very low-income units, the developer has
requested a density bonus of 9 units (35 percent
bonus) and development waiver of building height.
The project was approved by the Planning
Commission in February of 2021 and is pending
review by the City Council.
In 2020 an application was submitted for Residences
at 4400 Von Karman, which included 312 apartments
of which 13 very -low income housing units. The
project was approved by the City Council in February
2021. Newport Airport Village - A General Plan
Amendment, Planned Community Development Plan
(PCDP), and a Development Agreement that would
allow for the future redevelopment of the 16.46-acre
property with up to 444 dwelling units (329 base
units and 115 density bonus units) and 297,572
square feet of retail, office, and other airport
supporting uses. The project was approved by City
Council on September 22, 2020.
Residences at 4400 Von Karman - In 2020, the former
Koll Center Residences project was actively reviewed
under a new project submittal called The Residences
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-10
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
at 4400 Von Karman. The request consists of
637rezoning nonresidential property to mixed -use
land uses, including up to 260 residential units plus
an allowance for density bonus units up to a total of
312 units (13 Very -Low Income units). On
November 5, 2020, the Planning Commission
considered the project and recommended approval
to the City Council. The City Council approved the
project on February 9, 2021, outside the reporting
period.
Policy 2.3
Approve, wherever feasible and appropriate, mixed residential and commercial use developments that improve the balance between housing and jobs.
2.3.1
Continuously implement
In conjunction with the environmental review
Ongoing
Study housing impacts of proposed
program as major
required under the California Environmental Quality
The City will continue to analyze
major commercial/industrial
commercial/industrial
Act (CEQA), potential impacts to population, housing,
the impacts of proposed
projects during the development
projects are submitted to
and employment is reviewed and analyzed. Recent
commercial and industrial projects
review process. Prior to project
the City.
development trends have consisted of
on housing the City. While no
approval, a housing impact
redevelopment of commercial and industrial sites for
projects were proposed between
assessment shall be developed by
residential development or mixed -use, which has
2014 and 2019 that triggered the
the City with the active involvement
created new housing opportunities in the City.
requirement for an impact
of the developer. Such assessment
No major commercial/industrial projects were
assessment, the analysis in
shall indicate the magnitude of jobs
submitted in 2020-2014.
coordination with CEQA identifies
to be created by the project, where
potential effects on housing and
housing opportunities are expected
the City's ability to reach RHNA
to be available, and what measures
allocations.
(public and private) are requisite, if
any, to ensure an adequate supply
of housing for the projected labor
force of the project and for any
restrictions on development due to
the "Charter Section 423" initiative.
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-11
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
Policy 3
Mitigate potential governmental constraints to housing production and affordability by increasing the City of Newport Beach role in facilitating construction of
affordable housing for all income groups.
3.1.1
Continuously implement
The City prioritizes the development review process
Ongoing
Provide a streamlined "fast -track"
program as housing
for all affordable housing projects.
The City has been successful in
development review process for
projects are submitted to
The renovation for the Cove project, the Seaview
streamlining projects that add to
proposed affordable housing
the City.
Lutheran rehabilitation and any Senior Home Repair
the affordable housing stock of
developments.
Program rehabilitation projects were provided "fast -
Newport Beach. The City will
track" plan check.
continue to streamline and "fast -
track" the development review
process of affordable housing to
incentivize developers to create
affordable housing.
3.1.2
Continuously implement
The City considers density bonuses and other
Ongoing
When a residential developer agrees
provisions of Chapter 20.32
incentives on a project -by project basis. Chapter
In accordance with State Law, the
to construct housing for persons and
Density Bonus in the
20.32 (Density Bonus) is included in the Zoning Code
City will continue to provide
families of very low, low, and
Zoning Code as housing
and is implemented as projects are submitted.
density bonuses to developments
moderate income above mandated
projects are submitted to
As mentioned in Program 2.2.8, the approved
that provide housing to lower
requirements, the City shall either
the City.
Newport Crossings Mixed Use project includes 78
income households.
(1) grant a density bonus as required
units affordable to low-income households, and the
by state law, or (2) provide other
developer has requested a density bonus of 91 units
incentives of equivalent financial
(35 percent bonus), an incentive to allow for
value.
flexibility with unit mix, and a development waiver of
building height.
Additionally, a 2020 development, Residences at
4400 Von Karman Project includes 312 apartment
units (2510 West Coast Highway). Of which, 13 were
designated very -low income.
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-12
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
3.1.3
Work with the Affordable
Waivers and incentives are considered by the
Ongoing
Develop a pre -approved list of
Housing Task Force to
Planning Commission and City Council on a project-
The City will continue coordinating
incentives and qualifications for
develop the list and obtain
by -project basis. Staff received information from the
with HCD to develop pre -approved
such incentives to promote the
City Council approval by
Department of Housing and Community
incentives for developing
development of affordable housing.
Fall 2014.
Development (HCD) on examples of pre -approved
affordable housing and review the
Such incentives include the waiver
incentive programs from the City of Los Angeles and
eligibility of projects for fee waivers
of application and development fees
the City of Anaheim. Staff will continue research with
and incentives.
or modification to development
HCD to develop pre -approved incentives.
standards (e.g., setbacks, lot
coverage, etc.).
As mentioned in Program 2.2.8, the Newport
Crossings Mixed -Use project includes 78 units
affordable to low-income households, and the
developer has requested a density bonus of 91 units
(35 percent), an incentive to allow for flexibility with
unit mix, and a development waiver of building
height.
As mentioned in Program 2.2.8, the Newport
Crossings Mixed -Use project includes 78 units
affordable to low-income households, and the
developer has requested a density bonus of 91 units
(35 percent bonus), an incentive to allow for
flexibility with unit mix, and a development waiver of
building height. The plan check for construction
drawing review was submitted on November 17,
2020, with building permit issuance expected in
Summer 2021.
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-13
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
Policy 3.2
Enable construction of new housing units sufficient to meet City quantified goals by identifying adequate sites for their construction. Development of new
housing will not be allowed within the John Wayne Airport (JWA) 65 dB CNEL contour, no larger than shown on the 1985 JWA Master Plan.
3.2.1
Continuously implement
The City continually monitors requests for zone
Ongoing
When requested by property
program as property
changes of vacant and developed properties from
The City has been successful in
owners, the City shall approve
owners bring their requests
nonresidential to residential and approves when
rezoning properties from
rezoning of developed or vacant
to the City.
determined to be compatible and feasible. When
nonresidential to residential uses.
property from nonresidential to
approved, these sites are mapped for residential uses
The 6' Cycle Housing Element
residential uses when appropriate.
on both the Zoning District Map and General Plan
identifies potential sites that could
These rezoned properties shall be
Land Use Map.
be rezoned to permit housing
added to the list of sites for
Residences at 4400 Von Karman - In 2020, the former
developments. The City will
residential development.
Koll Center Residences project was actively reviewed
continue to review rezoning
under a new project submittal called The Residences
applications when appropriate for
at 4400 Von Karman. The request consists of rezoning
housing development.
nonresidential property to mixed -use land uses,
including up to 260 residential units plus an
allowance for density bonus units up to a total of 312
units (13 Very -Low Income units). On November 5,
2020, the Planning Commission considered the
project and recommended approval to the City
Council. The City Council approved the project on
February 9, 2021, outside the reporting period.
Newport Airport Village - A General Plan
Amendment, Planned Community Development Plan
(PCDP), and a Development Agreement that would
allow for the future redevelopment of the 16.46-acre
property with up to 444 dwelling units (329 base
units and 115 density bonus units) and 297,572
square feet of retail, office, and other airport
supporting uses. The project was approved by City
Council on September 22, 2020.
Residences at Newport Center - Redevelopment of
an underutilized commercial site in Newport Center
to develop 28 condominiums. The project was
submitted to the City in February 2020 and the
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-14
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
application was deemed complete in December
2020. The City is currently preparing the draft
environmental impact report for public distribution
in the spring 2021.
2510 West Coast Highway - In December 2019, an
application was submitted for a new mixed -use
development located at 2510 West Coast Highway
that includes the development of 35 dwelling units, 3
of which would be restricted for Very Low -Income
households. In exchange for providing the Very Low -
Income units, the developer has requested a density
bonus of 9 units (35 percent bonus), a development
waiver for building height and a waiver regarding the
unit mix. The project was approved by the Planning
Commission in February 2021, and the decision will
be reviewed by the City Council.
In 2012, the City adopted an amendment to the
North Newport Center Planned Community and
approved an additional 79 residential units for
construction within North Newport Center. The
amendment now allows for the total construction of
up to 524 residential units within the San Joaquin
Plaza sub -area. On December 12, 2013, plans were
submitted for the construction of a 524-unit
apartment complex and building permits and
demolition permits were issued in November 2014.
Construction commenced in late 2014 and was
completed in Summer 2017.
3.2.2
Continuously implement
The Residential Overlay of the Newport Place
Ongoing
Recognizing that General Plan Policy
program as projects are
Planned Community implements this program by
Through this policy, the City has
LU6.15.6 may result in a potential
submitted to the City.
providing an exception to the 10-acre site
successfully added 734 new units,
constraint to the development of
requirement for residential development projects in
of which 193 are reserved for lower
affordable housing in the Airport
the Airport Area that include a minimum of 30
incomes.
Area, the City shall maintain an
percent of the units affordable to lower income
exception to the minimum 10-acre
households.
To overcome constraints to the
development of housing, and
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-15
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
site requirement for projects that
In 2017, the Newport Crossings Mixed -Use project, a
specifically affordable housing, the
include a minimum of 30 percent of
350 dwelling unit mixed -use development was
City will continue to provide
the units affordable to lower-
approved within the Airport Area under the
exceptions to the minimum 10-
income households. It is recognized
Residential Overlay. In exchange for providing 78
acre site requirement when 30
that allowing a smaller scale
units affordable to low-income households, the
percent or more of the units are
development within an established
project is eligible for the 10-acre site requirement, a
proposed to be affordable.
commercial and industrial area may
91-unit density bonus, and development incentives
result in land use compatibility
and waivers. The application included a Site
problems and result in a residential
Development Review to ensure that the sufficient
development that does not provide
amenities and neighborhood integration
sufficient amenities (i.e., parks)
improvements are provided. The project provides
and/or necessary improvements
extensive on -site recreational amenities, including
(i.e., pedestrian walkways).
separate pool, entertainment, and lounge courtyards
Therefore, it is imperative that the
with eating, seating, and barbeque space; a rooftop
exception includes provisions for
terrace; a fifth -level view deck; a club room for
adequate amenities, design
entertainment and gatherings; and a fitness facility.
considerations for the future
In addition, a 0.5-acre public park is proposed to be
integration into a larger residential
constructed and dedicated to the City, and a public
village, and a requirement to ensure
plaza is located in front of the retail shops facing the
collaboration with future
main corner of the project at Corinthian Way and
developers in the area.
Martingale Way. The plan check for construction
drawing review was submitted on
November 17, 2020, with building permit issuance
expected in Summer 2021.
In 2019, the Newport Crossings Mixed -Use project, a
350 dwelling unit mixed -use development was
approved within the Airport Area under the
Residential Overlay. In exchange for providing 78
units affordable to low-income households, the
project is eligible for the 10-acre site requirement, a
91-unit density bonus, and development incentives
and waivers. The application included a Site
Development Review to ensure that the sufficient
amenities and neighborhood integration
improvements are provided. The project provides
extensive on -site recreational amenities, including
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-16
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
separate pool, entertainment, and lounge courtyards
with eating, seating, and barbeque space; a rooftop
terrace; a fifth -level view deck; a club room for
entertainment and gatherings; and a fitness facility.
In addition, a 0.5- acre public park is proposed to be
constructed and dedicated to the City, and a public
plaza is located in front of the retail shops facing the
main corner of the project at Corinthian Way and
Martingale Way.
3.2.3
Continuously implement
Appendix H3 is the Sites Analysis and Inventory which
Ongoing
The City will encourage and
program as housing
identifies sites that can be developed for housing
AB 1486 requires that the City
facilitate residential and mixed -use
projects are submitted to
within the planning period and that are sufficient to
identify and provide a list of sites
development on vacant and
the City. Review and
provide for the City's share of the regional housing
designated in the sites inventory if
underdeveloped sites listed in
update as necessary the
need allocation to provide realistic opportunities for
they are owner by the City.
Appendix H3 by providing technical
Site Analysis and Inventory
the provision of housing to all income segments
Through the 6th Housing Element
assistance to interested developers
and provide information to
within the community. Appendix H3 can be found in
planning Cycle, the City will review
with site identification and
interested developers.
the Housing Element available at the Planning
the opportunity sites identified and
entitlement processing. The City will
Division or online at:
continue marketing opportunity
support developers funding
httP://www.newportbeachca.gov/index.aspx?page=
applications from other agencies
sites.
2087
and programs. The City will post the
The City has completed the following:
Sites Analysis and Inventory on the
S an
S
1. A user-friendly Sites Analysis and Inventory is on
wesis
City's and marketing
the City's website.
materials for residential and mixed-
2. A brochure is available on the website and in the
use opportunity sites, and it will
public lobby that promotes the incentives and
equally encourage and market the
opportunities for affordable housing projects,
sites for both for -sale development
which includes information of the City's Sites
and rental development. To
Analysis and Inventory.
encourage the development of
3. A layer and note have been added in the City's
affordable housing within
Geographic Information System (GIS) to identify
residential and mixed -use
sites within the inventory to assist staff in
developments, the City shall
providing information to interested developers.
educate developers of the benefits
1. The City will encourage density bonus and offer
of density bonuses and related
incentives to interested developers.
incentives, identify potential
funding opportunities, offer
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-17
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
expedited entitlement processing,
Effective January 1, 2020, State law (Assembly Bill
and offer fee waivers and/or
1486, Statutes of 2019) requires a listing of sites
deferrals.
owned by the City, that are included in the sites
inventory, and that have been sold, leased, or
otherwise disposed of in the prior year. The list shall
include the entity to whom each site was transferred
and their intended use. The City does not own any of
the sites listed in the current housing opportunity
sites; therefore, no listing of sites is provided.
3.2.4
Annually report staffs
The City has significant projects on sites identified as
Ongoing
The City will monitor and evaluate
findings within the annual
underutilized:
The City has been successful in
the development of vacant and
General Plan Status Report
identifying underutilized sites and
underdeveloped parcels on an
including Housing Element
' In 20 construction began the development of
aiding/facilitating the development
annual basis and report the success
Report provided to OPR
a za Corona del Mar project, 6 detached
the Plaza
of housing on said properties.
of strategies to encourage
and HCD by April 1st each
residential condominiums units on an identified
residential development in its
year.
vacant site in Corona del Mar. Building permits
The City will continue to seek out
Annual Progress Reports required
were issued in 2017.
underutilized sites at the time of
pursuant to Government Code
• Uptown Newport was approved in February
the annual General Plan Status
Report or OPR and HCD.
65400. If identified strategies are
2013, for the construction of up to 1,244
not successful in generating
residential units, 11,500 square feet of retail
development interest, the City will
commercial, and 2.05 acres of park space. The
respond to market conditions and
Uptown Newport Planned Community requires
will revise or add additional
densities between 30 du/acre and 50 du/acre,
incentives.
consistent with the densities of the General Plan,
and allows additional density opportunities with
a density bonus. Construction of the first phase
of the project (462 apartment units, including 91
affordable units) began in 2014 and 227 of these
units were completed and finalized in 2019.
• The Newport Crossings Mixed -Use project is
located on a site identified as underutilized. The
project was submitted in 2017 and was under
review in 2018. The project includes the
development of 350 residential apartment units,
including 78 units affordable to low-income
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-18
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
households. The Environmental Impact Report
(EIR) was certified and the project was approved
by the Planning Commission on
February 21, 2019.
• Residences at 4400 Von Karman - In 2020, the
former Koll Center Residences project was
actively reviewed under a new project submittal
called The Residences at 4400 Von Karman. The
request consists of rezoning nonresidential
property to mixed -use land uses, including up to
260 residential units plus an allowance for
density bonus units up to a total of 312 units (13
Very -Low Income units). On November 5, 2020,
the Planning Commission considered the project
and recommended approval to the City Council.
The City Council approved the project on
February 9, 2021, outside the reporting period.
• Newport Airport Village - A General Plan
Amendment, Planned Community Development
Plan (PCDP), and a Development Agreement that
would allow for the future redevelopment of the
16.46-acre property with up to 444 dwelling
units (329 base units and 115 density bonus
units) and 297,572 square feet of retail, office,
and other airport supporting uses. The project
was approved by City Council on
September 22, 2020.
• Residences at Newport Center —
Redevelopment of an underutilized commercial
site in Newport Center to develop 28
condominiums. The project was submitted to
the City in February 2020 and the application
was deemed complete in December of 2020. The
City is currently preparing the draft
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-19
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
environmental impact report for public
distribution in the spring of 2021.
• Newport Village Mixed Use — Redevelopment of
underutilized commercial sites for a new mix -
use development including 14 residential
condominiums and 108 Apartments on the
North and South sides of West Coast Highway.
The project was submitted in 2017 and has
undergone several design revisions. In 2020, the
City reviewed revised plans and continued
preparation of the draft environmental impact
report. The applicant and consultant prepared
multiple technical studies for review. The City
anticipates public release of the draft EIR in mid
to late 2021.
• In December 2019, an application was submitted
for a new mixed -use development located at
2510 West Coast Highway that includes the
development of 36 dwelling units, 3 of which
would be restricted for very low-income
households. In exchange for providing the very
low-income units, the developer has requested
a density bonus of 9 units (35 percent bonus)
and development waiver of building height. The
project was approved by the in February 2021
and is currently pending City Council review.
• The VUE Newport (formally known as Newport
Bay Marina) project was identified as an
underutilized site. The project was approved by
the City in 2007 and the Coastal Commission in
2009 and permitted the development of 27
residential condominium units and 36,000
square feet of commercial floor area. The units
were completed and for sale in 2017.
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-20
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
• In 2020 an application was submitted for
Residences at 4400 Von Karman, which included
312 apartments of which 13 very -low-income
housing units. The project was approved by the
City Council in February of 2021.
Policy 4.1
Continue or undertake the following programs to mitigate potential loss of "at risk" units due to conversion to market -rate units. These efforts utilize existing
City and local resources. They include efforts to secure additional resources from public and private sectors should they become available.
4.1.1
Conduct as part of the
Staff maintains an updated contact list for affordable
Ongoing
Annually contact owners of
annual compliance
units in conjunction with the 2014-2021 Housing
The City will continue to annually
affordable units for those
monitoring program
Element. LDM Associates (consultant) included this
update its monitoring list of
developments listed as part of the
required by Program 2.1.4.
information that was sent to the owners as a part of
affordable housing units and
City's annual monitoring of
Contact list shall be
the annual monitoring. During the RFP process for
contact the property owners for
affordable housing agreements to
provided on City website
the expenditure of the affordable housing funds, the
details on whether they will
obtain information regarding their
and updated annually.
City and LDM Associates reached out to the owners
continue offering affordable units
plans for continuing affordability on
of the existing affordable housing units within the
on their property. This promotes
their properties, inform them of
City and there was no interest to extend the existing
relations between the public,
financial resources available, and to
affordable housing covenants except from Seaview
developers, and the City, as well as
encourage the extension of the
Lutheran (see Program 1.1.2 for details).
forecast the availability of
affordability agreements for the
affordable housing through the
developments listed beyond the
City.
years noted.
4.1.2
Maintain registration as a
The City of Newport Beach is registered as a Qualified
Ongoing
The City shall maintain registration
Qualified Preservation
Preservation Entity with HCD as of 2012. When
The City has not received
as a Qualified Preservation Entity
entity with HCD.
notification is received, City staff will evaluate the
notification between 214 and 2019
with HCD to ensure that the City will
Continuously implement
potential use of monies to preserve the affordable
of developments seeking to
receive notices from all owners
program as notices are
units.
convert affordable housing into
intending to opt out of their Section
received from property
market -rate housing.
8 contracts and/or prepay their HUD
owners.
The City will maintain its
insured mortgages. Upon receiving
registration as a registered
notice that a property owner of an
Qualified Preservation Entity to
existing affordable housing
provide additional funding to
development intends to convert the
developers who seek to make this
units to a market -rate development,
the City shall consult with the
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-21
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
property owners and potential
change during the 61h planning
preservation organizations
cycle.
regarding the potential use of
Community Development Block
Grant (CDBG) funds and/or
Affordable Housing Fund monies to
maintain affordable housing
opportunities in those
developments listed in Table H12 or
assist in the non-profit acquisition of
the units to ensure long-term
affordability.
4.1.3
Attend quarterly OCHA
Pamphlets informing prospective tenants and
Ongoing
Continue to maintain information
(Cities Advisory
landlords about the Orange County Housing
The City will continue to provide
on the City's website and prepare
Committee) that provide
Authority (OCHA) Section 8 program have been made
residents and developers with
written communication for tenants
updates on OCHA Section 8
available in the public lobby and information is
information in the OCHA Section 8
and other interested parties about
waiting list and housing
posted on the City website.
program and attend Cities Advisory
Orange County Housing Authority
opportunities to ensure
Committee meetings to remain up -
Section 8 opportunities and to assist
information provided on
to -date on opportunities relevant
tenants and prospective tenants
City website is up-to-date.
to the City.
acquire additional understanding of
If Section 8 waiting list is
housing law and related policy
opened, promote the
issues.
availability of the program
through marketing
materials made available to
the public.
4.1.4
Investigate availability of
The City attends OCHA meetings and has continued
Ongoing
Investigate availability of federal,
programs in February of
to investigate available programs and evaluate the
The City will continue to seek
state, and local programs and
each year when new
feasibility of participating in such programs.
availability of programs for funding
pursue these programs, if found
funding opportunities are
The Cove project worked directly with to
CHA
of affordable housing and make
feasible, for the preservation of
typically announced.
obtain project -based Veterans Affairs Supportive
ppor
this information available to the
existing lower -income housing,
Housing (VASH) vouchers. Orange County is provided
public.
especially for preservation of lower-
VASH vouchers which are distributed to the Cities via
income housing that may convert to
OCHA. The project was awarded the project based
market rates during the next 10
VASH vouchers in 2016. Renovations of the units
years. In addition, continually
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-22
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
promote the availability of monies
began in 2017 and lease -up of the project -based
from the Affordable Housing Fund
voucher units was complete in spring 2018.
as a funding source for the
Additionally, the project received Veterans Housing
preservation and rehabilitation of
and Homelessness Prevention (VHHP) funding
lower -income housing. A list of
through the Department of Housing and Community
these programs, including sources
Development.
and funding amounts, will be
identified as part of this program
and maintained on an ongoing basis.
4.1.5
Conduct as part of the
Staff and consultant LDM Associates ("LDM") were
Modify
The City shall inform and educate
annual compliance
able to coordinate meetings and phone calls with
The policy action was unsuccessful
owners of affordable units of the
monitoring program
property owners of existing units subject to
at encouraging property owner to
State Preservation Notice Law
required by Program 2.1.4.
affordable housing covenants or agreements. The
maintain the affordable housing on
(Government Code Section
owners were not interested in extending the existing
their property during the 5th Cycle
65863.10-13), if applicable.
affordable housing covenants. Staff worked with
planning period. Consequently, the
Pursuant to the law, owners of
LDM to provide a notice to potentially affected
policy should be modified to
government -assisted projects
property owners.
incentivize property owner
cannot terminate subsidy contract,
maintain the affordability of the
prepay a federally assisted
• 2019 - Newport Harbor I at 1538 Placentia
units on their property.
mortgage, or discontinue use
Avenue is in the process of terminating. Their six -
restrictions without first providing
month notice was flagged by HCD. The City's new
an exclusive Notice of Opportunity
Housing Consultant. Priscila Davila &Associates,
to Submit an Offer to Purchase.
Inc. and City staff worked to resolve the issue
Owners proposing to sell or
with HCD, without requiring the notices to be
otherwise dispose of a property at
resent. The final termination document was
any time during the 5 years prior to
under review by City Attorney and is anticipated
the expiration of restrictions must
to be complete by March 2021.
provide this Notice at least 12
• 2018 - LDM discovered that 1 of the expiring
months in advance unless such sale
affordable housing covenants did not provide
or disposition would result in
the state law required noticing to their tenants.
preserving the restrictions. The
In May 2017, LDM notified the owner and
intent of the law is to give tenants
management of 1544 Placentia Avenue and as a
sufficient time to understand and
result, the expiration date of the affordability
prepare for potential rent increases,
covenant was extended into 2018 to meet state
as well as to provide local
law noticing requirements. In 2018 the following
governments and potential
covenants for affordable housing expired and
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-23
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
preservation buyers with an
staff was unable to reach an agreement to
opportunity to develop a plan to
extend the affordability agreements:
preserve the property. This plan
o 849 West 15th Street - 15 units
typically consists of convincing the
0 1544 Placentia — 25 units
owner to either (a) retain the rental
o 843 West 15th Street — 65 units
restrictions in exchange for
additional financial incentives or (b)
sell to a preservation buyer at fair
market value.
4.1.6
Continuously implement
Zoning Code Section 20.28.020 ensures compliance
Ongoing
In accordance with Government
program as projects are
with the Government Code Section.
The City will continue to require a
Code Section 65863.7, require a
submitted to the City.
One relocation impact report was submitted in
relocation impact report as a
relocation impact report as a
September 2014 for the closure of the Ebb Tide
prerequisite when an existing
prerequisite for the closure or
Mobile Home Park and City Council found it sufficient
mobile home park seeks to close or
conversion of an existing mobile
pursuant to Government Code Section 65863.7 in
convert.
home park.
January 2015.
4.1.7
Attend quarterly OCHA
Staff attends the quarterly meetings of the OCHA
Ongoing
Participate as a member of the
(Cities Advisory
Cities Advisory Committee.
The City will continue to work with
Orange County Housing Authority
Committee). Continue to
the OCHA to provide Section 8
(OCHA) Advisory Committee and
maintain information on
Staff continually works in cooperation with the
rental housing assistance to
County to provide Section 8 rental housing assistance
work in cooperation with the OCHA
City's website informing
to residents.
residents and impose fair -market
to provide Section 8 Rental Housing
landlords of the program
rent limits to increase the number
Assistance to residents of the
benefits of accepting
A link to the Orange County Housing Authority
of units eligible to participate in the
community. The City will, in
Section 8 Certificate holders.
website has been placed on the City website to
program.
cooperation with the Housing
provide information on the Section 8 program.
The City will also continue to
Authority, recommend and request
City staff worked closely with OCHA staff to facilitate
promote the availability of Section
use of modified fair -market rent
the award of the Veterans Affairs Supportive Housing
8 housing to lower -income
limits to increase the number of
(VASH) Vouchers to the Cove project (see Program
households who may benefit from
housing units within the City that
4.1.4).
the aid. This allows the City to
will be eligible to participate in the
expand its income distribution and
Section 8 program. The Newport
retain affordable housing units.
Beach Planning Division will prepare
and implement a publicity program
to educate and encourage landlords
within the City to rent their units to
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-24
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
Section 8 Certificate holders, and to
make very low-income households
aware of availability of the Section 8
Rental Housing Assistance Program.
Policy 4.2
Improve energy efficiency of all housing unit types (including mobile homes).
4.2.1
Continuously implement
The City continued to investigate available programs
Ongoing
Implement and enforce the Water
program as housing
and evaluate the feasibility of participating in such
The City will continue to implement
Efficient Landscape Ordinance and
projects are submitted to
programs.
and enforce the Water Efficient
Landscape and Irrigation Design
the City.
All new development projects are reviewed for
Landscape Ordinance and
Standards in compliance with AB
compliance with the City's Water Efficient Landscape
Landscape and Irrigation Design
1881 (2006). The ordinance
Ordinance.
Standards for new construction
establishes standards for planning,
• The annual report on the City's Water Efficient
and rehabilitation projects. Such
designing, installing, and
Landscape Ordinance for 2019 was submitted to
landscaping limits the additional
maintaining and managing water-
California Department of Water Resources on
cost (such as the cost of water and
efficient landscapes in new
maintenance) for both residents
construction and rehabilitated
January 31, 2020.
and property owners.
projects.
• In 2019, all new development projects were
reviewed for compliance with the City's Water
Efficient Landscape Ordinance.
• The Cove project incorporates water -efficient
landscaping.
4.2.2
Continuously implement
Implement as projects are submitted.
Ongoing
Affordable housing developments
program as housing
• 2019-2020 - As part of the SHARP program,
City will continue to require
that receive City assistance from
projects are awarded funds
energy efficiency is a priority with upgraded
energy efficient appliances and
energy
Community Development Block
from the City.
devices to lower housing costs for
Grant (CDBG) funds or from the
sinks, water heaters, weather-proof windows
affordable housing developments
City's Affordable Housing Fund shall
and new water efficient toilets.
that receive CDBG funds.
be required, to the extent feasible,
• 2018-2015 - The Cove project and the Seaview
include installation of energy
Lutheran project incorporated the use of energy
efficient appliances and devices, and
efficient appliances and lighting.
water conserving fixtures that will
contribute to reduced housing costs
for future occupants of the units.
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-25
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
4.2.3
Complete investigation by
Continuously monitor requests for assistance and
Completed
Investigate the feasibility and
Fall of 2014.
Code Enforcement quarterly reports to determine
The City completed the
benefits of using a portion of its
need.
investigation by fall 2014.
CDBG or other local funds for the
establishment and implementation of
an energy conserving home
improvements program for lower -
income homeowners.
4.2.4
Continually implement
In 2020-2014, the City staff included 1 Leadership in
Ongoing
Maintain a process for LEED
program as projects are
Energy and Environmental Design (LEED) accredited
The City will continue to provide
certified staff members to provide
submitted to the City.
staff member who was available to provide technical
technical assistance on LEED
development assistance to project
assistance when requested.
certification.
proponents seeking LEED
certification, which will in turn
increase the LEED points granted to
projects.
4.2.5
Enhance City website to
Staff will work on construction of a new webpage
Modified
To encourage voluntary green
provide recognition of
that will provide recognition to LEED certified
The City was not able to complete
building action, the City shall
exceptional developments
buildings by displaying their project with pictures and
the website and information flyer
maintain a green recognition
and to promote the
their name or other information they would want
on LEED Certification during the 5th
program that may include public
sustainable construction by
advertised. An informational flyer is also being
Housing Cycle, therefore the
recognition of LEED certified
Spring of 2014.
drafted to encourage green building that will
program remains ongoing in order
buildings (or equivalent
advertise the new webpage and will be provided in
to provide the public and
certification), payment of a display
the public lobby.
developers information on the
advertisement in the local
benefits of creating LEED Certified
newspaper recognizing the
buildings and housing
achievements of a project or
developments.
developing a City plaque that will be
granted to exceptional
developments.
Policy 5.1
Encourage approval of housing opportunities for senior citizens and other special needs populations.
5.1.1
Continue to annually apply
Through the approved Action Plans for Fiscal Years
Ongoing
Apply for United States Department
for CDBG funds and submit
2014-20, the City allocated funding to the following
The City has been successful in
of Urban Development Community
Annual Action Plan to HUD
organizations to preserve the supply of emergency
providing funding to local
Development Block Grant (CDBG)
in May of each year.
and transitional housing: Human Options, Families
organizations for providing shelter
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-26
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
funds and allocate a portion of such
Forward, StandUp for Kids Orange County, Serving
and services the individuals
funds to subrecipients who provide
People in Need (SPIN), Second Chance Orange
experiencing homelessness.
shelter and other services for the
County, and Fair Housing Foundation.
Considering the increased
homeless.
A new program - Newport Beach: City Motel Voucher
importance of such help during the
51h Planning Cycle, the City will
Program, was funded in 2020 through the Newport
Beach Police Department (PD). The room key
continue to apply for CDBG funds
program allows PD to provide short-term (1 — 3 nights
with the purpose of funding
on average) motel rooms to individuals experiencing
homeless services.
homelessness in Newport Beach. Additional CDBG
monies have been allocated to the City from Federal
funds under the CARES Act, approximately $741,000,
and will likely have a portion allocated to homeless
transitional housing projects. An amendment to the
Action Plan, to program these additional funds is
anticipated to go to Council for consideration in early
2021.
On November 24, 2020, the City Council approved
the Memorandum of Understanding between the
Cities of Costa Mesa and Newport Beach for the
funding, development and Shared Use of a
Temporary Homeless Shelter Facility. A shared
shelter would enable both agencies to provide
services to their respective homeless populations
without duplicating efforts and thus better
leveraging their respective resources.
The Human Options organization has been funded to
assist homeless battered women and children.
5.1.2
Attend quarterly OCHA
The City refers low-income residents to Orange
Ongoing
Cooperate with the Orange County
(Cities Advisory
County for rehabilitation of mobile homes, to
The City will continue to assist
Housing Authority to pursue
Committee) meetings to
Neighborhood Housing for first time buyer programs,
seniors in funding home repairs
establishment of a Senior/Disabled
keep up to date on
and to Rebuilding Together for handyman service for
and property rehabilitation. The
or Limited Income Repair Loan and
rehabilitation programs
low-income and senior households.
City has an aging population who is
Grant Program to underwrite all or
offered by the County in
The City Council awarded Affordable Housing Funds
more susceptible to limited
part of the cost of necessary housing
order to continuously
for an agreement with Habitat for Humanity Orange
income, as well as a large housing
modifications and repairs.
inform homeowners and
stock of structures over 30 years
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-27
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
Cooperation with the Orange
rental property owners
County (Habitat OC) granting up to $600,000 to
old that may be in need of
County Housing Authority will
within the City of
establish a critical home repair program for low-
renovations to maintain adequate
include continuing City of Newport
opportunities and to
income seniors (Senior Home Assistance Repair
quality of life and safety standards.
Beach participation in the Orange
encourage preservation of
Program). It is estimated that approximately 30
County Continuum of Care and
existing housing stock
repair projects will be completed at various locations
continuing to provide CDBG funding.
throughout the City. To date, there have been 11
projects, including 9 already completed. There is
money remaining in this program and applications
are currently being accepted (see Program 1.1.2).
5.1.3
Continuously implement
In 2017 and 2018, the City amended its regulations to
Modify
Permit, where appropriate,
program as housing
permit the development of Accessory Dwelling Units
New 2020 State Law permitted and
development of senior accessory
projects are submitted to
(ADUs) in single -unit residential zoning districts to
facilitated the creation of ADUs in
dwelling "granny' units in single-
the City. Promotional
conform with changes in State Law.
single unit zones with a shot clock
unit areas of the City. The City will
materials will be available
for the permitting timeline and
promote and facilitate the
to the public by Spring
• In 2020 additional amendments were made torestrictions
on development fees.
development of senior accessory
2014.
update the City's regulations on ADUs to be
dwelling units by providing
consistent with new State Law. There were 19
The City will continue to promote
brochures and/or informational
ADUs submitted, 8 ADUs permitted, and 2 ADUs
and facilitate ADUs for senior
finalized.
households as well as provide
materials at the building permit
information on the permitting
counter, online, and other
• In 2019, there were 2 ADUs submitted, 3 ADUs
process to the community.
appropriate locations detailing the
permitted, 2 ADUs under construction, and 1
benefits and the process for
ADU finalized.
obtaining approval.
• In 2018, there were 6 approved ADUs and
3 additional ADUs were in the permit process.
• In 2017, there were 5 ADUs (1 new construction
and 4 conversions) in the plan check process
under the new regulations.
• No permits issued in between 2014 and 2016.
0 In 2015, staff provided a flyer that promotes
senior accessory dwelling units and is
provided in the public lobby and on City's
website.
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-28
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
5.1.4
Attend annual HOPWA
The management of the HOPWA funds transferred
Modified.
Work with the City of Santa Ana to
strategy meetings for the
from Santa Ana to Anaheim in 2016. As a result, City
provide recommendations for the
County.
staff will stay up-to-date on services provided with
allocation of HUD Housing
HOPWA funds and Ryan White Program funds
Opportunities for Persons with AIDS
through the HIV Planning Council meeting agendas. If
(HOPWA) funds within Orange
needed, City staff will attend the related budget
County.
allocation meetings which are usually held in August
or September of each year.
5.1.5
Continuously maintain a
City maintains a list of resources that are available for
Ongoing
Maintain a list of "Public and Private
list of resources on City
housing and community development activities. A list
The City will continue to maintain a
Resources Available for Housing and
website and update as
of resources and links are provided on the City's
list of resources for housing and
Community Development
necessary.
website.
community development activities
Activities."
to promote housing development
throughout the City.
5.1.6
Continuously implement
No projects were submitted that included the
Modify
Encourage the development of day
program as housing
establishment of a day care center (2020-2014).
care centers as a component of new
projects are submitted to
affordable housing developments
the City.
and grant additional incentives in
conjunction with a density bonus
per the Chapter 20.32.
5.1.7
Continue to provide social
The City provided $30,000 ($25,000 in 2018/2019,
Ongoing
Encourage senior citizen
services, support groups,
$26,900 in 2017 & $16,000 in 2014) in CDBG funds to
The City was successful in assisting
independence through the
health screenings, fitness
Age Well Senior Services home delivered meals
the funding of senior housing
promotion of housing services
classes, and educational
program. The mobile meals program provides home-
services through the 51h Planning
related to in -home care, meal
services at the City's OASIS
delivered meals to individuals who are homebound
Cycle and will continue to provide
programs, and counseling, and
Senior Center. Offer
due to age, illness, or disability.
the same services and support
maintain a senior centerthat affords
affordable ride -share
through the 6`h Cycle. The City has
seniors opportunities to live
transportation and meal
The City also operates the OASIS Senior Center.Services
an aging population that can be
include:
healthy, active, and productive lives
services to seniors who are
affected by limited income, so such
in the City.
unable to drive and/or
A multi -purpose center owned and operated by
projects can limit additional costs.
prepare their own meals or
the City of Newport Beach in partnership with
dine out and have little
the Friends of OASIS nonprofit dedicated to
assistance in obtaining
meeting needs of senior citizens and their
adequate meals.
families.
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-29
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
• Classes in art, health & fitness, music & dance,
foreign languages, technology, enrichment, and
much more.
• A state-of-the-art fitness center for those ages
50 and older which provides a safe, comfortable,
senior -friendly exercise environment for the
active older adult including access to hire a
personal trainer for individualized programs.
Separate membership required to join.
• Regularly scheduled low-cost special events and
socials such as luncheons, concerts, barbecues,
a talent show and volunteer recognition.
• Travel department coordination of day and
overnight trips.
• Curb -to -curb transportation program for
residents of Newport Beach ages 60 and older
who are no longer driving to use for medical
appointments, grocery shopping, banking, and
to attend OASIS classes (fee required).
• Social services information and referral for
seniors and their families dealing with a need for
caregiver services, housing, transportation, work
resources, legal matters, and more.
Informational and supportive counseling is
available to seniors and their family members on
an individual basis.
• Various health resources and screenings for
seniors, including flu shots, blood pressure,
memory screenings, hearing screenings, and
health insurance counseling services.
• Regularly scheduled support group meetings at
the Center to help senior citizens and their
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-30
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
families cope with stress, illness, life transitions,
and crises.
• Lunch program for active and homebound
senior citizens ages 60 and older that is funded
by the federal government through the Older
American Act. A donation is requested for meals,
which are provided by Age Well Senior Services.
5.1.8
Summer 2014
Information was added to the City website under
Ongoing
The City shall work with the Regional
Housing Assistance regarding resources through the
The City will continue to work with
Center of Orange County (RCOC) to
RCOC which began implementation of an outreach
the RCOC to provide families with
implement an outreach program
program. The City remains in contact with RCOC on
information on services and
informing families within the City of
implementing outreach programs as they are
housing available for persons with
housing and services available for
developed. The City works with the housing
developmental disabilities. The City
persons with developmental
consultant at the RCOC. When projects are
will also continue expediting future
disabilities. Information will be
submitted, they will be offered expedited permit
projects that offer housing to
made available on the City's
processing and the possibility of fee waivers.
persons with disabilities.
website. The City shall also offer
expedited permit processing and fee
waivers and/or deferrals to
developers of projects designed for
persons with physical and
developmental disabilities.
Policy 6.1
Support the intent and spirit of equal housing opportunities as expressed in Title VII of the 1968 Civil Rights Act, California Rumford Fair Housing Act, and the
California Unruh Civil Rights Act.
6.1.1
Adopt Analysis of
The City contracted with the Fair Housing Foundation
Ongoing
Contract with an appropriate fair
Impediments to Fair
to provide these services. The Fair Housing
The City was successful in reaching
housing service agency for the
Housing (2015-2020) by
Foundation provided the following trainings,
out to the community about fair
provision of fair housing services for
Summer of 2016. Provide
seminars, and outreach activities in the City during
housing services during the 51n
Newport Beach residents. The City
pamphlets on an ongoing
the following 6`" Cycle years:
Planning Cycle.
will also work with the fair housing
basis at community
2020:
As required by State Law and HCD,
service agency to assist with the
facilities and provide a
• Virtual Fair Housing Workshops — 2/3/20 and
the City will continue to provide
periodic update of the Analysis of
minimum of 2 public
11/17/20
fair housing information and
Impediments to Fair Housing
workshops related to Fair
document required by HUD. The
Housing per year.
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-31
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
City will continue to provide public
• Virtual Walk -In Clinics — 5/13/20, 5/20/20,
assistance to residents and
outreach and educational
7/15/20, 9/2/20, and 11/18/20.
developers.
workshops, and distribute
• PSA, City of Newport Beach TV — 6/5/20
pamphlets containing information
• Literature Distribution — 2,250
related to fair housing.
2019:
• 2 Community Booths — 9/28/19 and 10/19/19
• 2 Tenant Rights Workshops — 5/5/19
• 2 Landlord Workshops — 2/14/19 and 11/20/19
• 2 Management Trainings — 3/6/19 and 6/18/19
2018:
• 2 Community Booths — 10/20/18 and 11/17/18
• 2 Tenant Rights Workshops — 4/19/18 and
11/7/18
• 2 Landlord Workshops — 3/27/18 and 8/30/18
• 2 Management Trainings — 6/25/18 and 9/20/18
2017:
• 3 Community Booths — 6/15/17, 8/1/17, and
10/21/17
• 3 Presentations — 4/13/17, 5/11/17, 6/6/17
• 2 Tenant Rights Workshops — 3/1/17 and
12/7/17
• 2 Landlord Workshops—4/27/17 and 10/25/17
• 2 Management Trainings — 6/1/17 and 11/21/17
2016:
• 1 Community Booth at National Night Out Event
on 8/2/16
• 5 Presentations — 2/24/16, 3/9/16, 6/2/16,
7/18/16, and 12/8/16
• 2 Tenant Rights Workshops — 4/12/16 and
9/6/16
• 2 Landlord Workshops — 6/8/16 and 11/2/16
• 1 Walk in Clinic — 5/25/16
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-32
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
• 2 Management Trainings — 5/12/16 and
12/21/16
201S:
• 4 Community Booths at Pavilions Grocery-
5/17/15 Hagen's Food and Pharmacy 6/17/15 o
National Night Out event on 8/4/15 o VA
Landlord Appreciation Event 9/24/15
• 4 Presentations — 1/20/15, 4/18/15, 6/14/15,
10/23/15
• 2 Tenant Rights Workshops — 6/16/15 and
9/16/15
• 2 Landlord Workshop — 2/23/15 and 7/7/15
• 2 Walk -In Clinics - 4/14/15 and 8/5/15
• 2 Management Trainings—4/29/15, 8/6/15.
2014:
• 2 Outreach Booths at the Newport Beach
Farmers Market on 6/8/14 and the National
Night Out event on 8/5/14
• 3 Presentations — 6/5/14 (2) and 8/23/14
• 2 Tenant Rights Workshops — 3/5/14 and
12/4/14
• 2 Landlord Workshop — 2/12/14 and 6/4/14
• 2 Walk in Clinics - 3/25/14 and 9/18/14
• 3 Management Training — 1/29/14, 5/7/14, and
11/3/14.
• 1 Disability Policy Workshop on 6/10/14
Pamphlets containing information on Fair Housing
and Dispute Resolution Services are available at the
public counter.
Policy 7.1
Review the Housing Element on a regular basis to determine appropriateness of goals, policies, programs, and progress of Housing Element implementation.
7.1.1
Annually report staffs
This annual Housing Element Report will be
Ongoing
As part of its annual General Plan
findings within the annual
submitted to HCD.
As required by HCD, the City will
Review, the City shall report on the
General Plan Status Report
continue to provide annual reports
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-33
City of Newport Beach
2021-2029 HOUSING ELEMENT
Policy Action
Objective
Program Accomplishments
Status for Sixth Cycle
status of all housing programs. The
including Housing Element
on the status of all housing
portion of the Annual Report
Report provided to OPR
programs to ensure progress.
discussing Housing Programs is to be
and HCD by April 1st each
distributed to the California
year.
Department of Housing and
Community Development in
accordance with California state
law.
Appendix A: Review of Past Performance (September 2022 Final Housing Element) A-34
City of Newport Beach
2021-2029 HOUSING ELEMENT
The Housing Element is required to identify potential candidate housing sites by income category to meet
the City's RHNA Allocation. The sites identified within the Housing Element represent the City's ability to
plan for housing at the designated income levels within the 6t" housing cycle planning period (2021-2029).
These sites are either residentially zoned or within a specific plan area or urban plan that permits
residential uses at a minimum of 30 dwelling units per acre (du/ac). As described in this appendix, the
development capacity for each site depends largely on its location within a "Focus Area." It should be
noted that the sites evaluated here explicitly identify sites that have a favorable chance of redevelopment
in the planning period. The actual number of sites subject to future rezone and the actual unit yield, by
income category, on each site may vary. The intent of the identification of sites in this Appendix shall
provide justification of the availability of sites to accommodate the 2021-2029 RHNA need at all times
during the planning period.
As part of the site selection process, letters of interest were sent out to all property owners within each
Focus Area. Property owners were consulted to help the City better understand potential future housing
growth on candidate housing sites within the City. Additionally, some property owners contacted the City
requesting to be added and other requested their removal from consideration. Those requests were
granted by the City and are reflected in the site analysis contained herein.
This appendix contains Tables B-11, B-13, B-16, B-19, B-21, and B-22 which identify each candidate
housing site within Newport Beach's sites inventory. The sites are identified by assessor parcel number
(APN) as well as a unique identifier used to track sites within the inventory. Additionally, the following
information is provided for each parcel.
• Address
• Ownership
• Zoning (including Specific Plan areas and Overlays, if applicable)
• Size (Net developable acres removing known development constraints)
• Density
• Vacancy status
• Previous Housing Element identification
• Potential Development Capacity (Dwelling Units) by income category
• Description of existing use
A summary of this information is included within the Housing Resources section (Section 3) of the City's
2021-2029 Housing Element.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-1
City of Newport Beach
2021-2029 HOUSING ELEMENT
Candidate Sites Analysis and Identification Process
The City of Newport Beach conducted a community driven Candidate Sites Analysis process beginning in
2019 with Newport, Together and concluding in 2021 with the work of the Housing Element Update
Advisory Committee.
Newport, Together Sites Identification by Newport Beach Residents and
Stakeholders
Newport, Together is a community -based effort that included a Listen and Learn process to guide and
inform a future General Plan Update. As a component of the General Plan Update, the Steering Committee
identified the need to share information on the state -mandated Regional Housing Needs Assessment
(RHNA) housing allocation for Newport Beach. A key activity during outreach meetings for Phase I included
a presentation on RHNA and an activity designed to allow participants to create a heat map identifying
potential locations to zone for state -mandated housing allocations. Completed in the Fall of 2019, the
Listen & Learn process included digital engagement, a launch event, and a workshop series in each of the
seven council districts. The heat map of potential rezoning locations developed by the community, shown
below, was the starting point for the work of the Housing Element Update Advisory Committee (HEAUC).
Figure 13-1: Heat Map of Potential Rezoning Locations
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-2
City of Newport Beach
2021-2029 HOUSING ELEMENT
Housing Element Update Advisory Committee and Identification of
Candidate Sites
Building upon the efforts of Newport, Together, the Candidate Sites Analysis process in Newport Beach
was continued by the Housing Element Update Advisory Committee (HEUAC). The creation of the HEUAC
was also the beginning of the formal Housing Element Update development process. The HEUAC is
comprised of a variety of professionals with relevant experience in affordable housing development and
financing, housing policy, local development, environmental matters, and community engagement. The
primary role of the HEUAC was to provide analysis and feedback on the selection of sites to be included
in the Adequate Sites Inventory. The Purpose & Responsibilities of the committee are as follows:
• Ensure there is sufficient public outreach and stakeholder input regarding the update to the
Housing and Land Use Elements of the City of Newport Beach General Plan and any other
Elements deemed necessary;
• Review responses to the Request for Proposal for services to update the Housing, Land Use,
and other Elements deemed necessary;
• Make recommendations to the City Council regarding the selection of consultants to assist in
the update of the Housing, Land Use, and other Elements deemed necessary;
• Provide guidance to City staff and the consultant through the outreach process;
• Provide guidance to City staff, and the consultant, on goals and policies related to the update
of the Housing, Land Use, and any other Elements deemed necessary by the Committee or City
Council; and
• Make other recommendations to the City Council regarding the update of the General Plan, as
necessary.
Composition of the Housing Element Update Advisory Committee (HEUAC)
The HEUAC was appointed by the Newport Beach City Council for their demonstrated knowledge and
expertise of housing, funding/financing, due diligence, site design among other factors. The HEUAC
included the following members;
• Larry Tucker, Chair— Real estate development, financing and law
• Jeff Bloom — Real estate financing, specializing in affordable housing financing
• Susan DeSantis — Planner and a former director of HCD
• Paul Fruchbom — Affordable housing developer
• Beth Kiley— Real estate appraiser
• Geoffrey LePlastrier — Licensed Architect
• Stephen Sandland — Licensed Architect
• Debbie Stevens — Planner and CEQA practitioner
• Michelle Thrakulchavee — Real estate development and financing
Each of these experts provided professional insight for the identification and feasibility of sites to be
included in the City 2021-2029 Housing Element. A summary of all meetings, efforts and conclusions of
the HEUAC are provided in Appendix C of this Housing Element.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-3
City of Newport Beach
2021-2029 HOUSING ELEMENT
Based on the heat map developed by the community during the Listen & Learn, The HEUAC further
identified "Focus Areas" for housing development, which are detailed in this document. Within each Focus
Area, Subcommittees of the Committee assigned all nonvacant parcels a feasibility rating ("Infeasible",
"Potentially Feasible", or "Feasible") — analyzing the parcel's propensity to redevelop during the planning
period. For each of the Focus Areas, the HEAUC assigned area -specific Subcommittees to analyze all
opportunity sites within the area for feasibility. Feasibility was assessed as follows:
• Feasible sites are those that appear that they could feasibly be redeveloped for housing or
have housing added to the Parcel while the current use remains in whole or in part.
• Potentially Feasible sites are those that may work as housing, but due to the size and/or
configuration of a Parcel, or the quality and functionality of existing improvements, a Parcel
might be somewhat less likely to be a candidate for a housing use. Potentially Feasible sites
may also include Parcels that would be infeasible standing alone, but if combined with
adjacent the Parcel(s) could become part of a potential housing site.
• Infeasible sites are those that the Subcommittee determined would not work as housing due
to existing improvements on the site, insufficient size, and or inefficiencies due to the
configuration of the Parcel.
Each site was also evaluated by the Subcommittees considering factors such as:
• Access to schools and jobs
• Access to parks, services, health care facilities and grocery stores
• Proximity to infrastructure and utilities
• Likelihood or redevelopment and reuse
• Project feasibility based on existing site conditions and development features
• Funding/Financing and feasibility considerations
HEUAC Identification of Sites to be Included in the Sites Inventory
Each Subcommittee developed detailed technical memorandums that were presented at public meetings
summarizing the detailed, parcel -by -parcel analysis completed to assess feasibility within each Focus
Area. Once these sites were identified, the City then sent out individual letters to each property owner
whose property was deemed "Feasible" or "Potentially Feasible" for residential development by the
HEUAC. Responses to these letters are captured as evidence to reinforce likelihood for redevelopment
within Tables B-11, B-13, B-16, B-19, B-21, and B-23. Based on these responses, the City removed Feasible
or Potentially Feasible sites where the property owner was expressly unwilling to providing housing
opportunities on their site.
Final Determination of Sites Inventory
Final determination of housing sites was established utilizing the following criteria:
• Identification of sites w/ a Realistic Potential to Redevelop During the Planning Period — The
HEUAC identified only sites that adhered to the criteria established at the beginning of the
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-4
City of Newport Beach
2021-2029 HOUSING ELEMENT
planning process. Supported by demonstrated features of recent development activity in the area
and utilization of site selection criteria that provide sound analysis of site feasibility, the HEAUC
identified only sites which can be realistically assumed to have the highest level of redevelopment
potential during the 2021-2029 Planning Period.
• Provision of a Significant Buffer of Sites to Accommodate Sites that may not Redevelop to Full
Potential During the Planning Period —The HEUAC concluded that it is infeasible to assume 100%
of the sites identified in the inventory would see redevelopment in the planning period.
Therefore, a large buffer of additional sites was identified to ensure a larger inventory of
opportunity, inclusion of a greater number of property owners and establishment of identical
regulatory and land use standards on these parcels to encourage and incentivize redevelopment.
As summarized in Table B-1, the sites buffer provides to adherence to no net loss considerations
and significantly expands opportunity for housing within each focus area.
• Identification of Sites That Would be Physically Able to Accommodate Housing In Place of or in
Addition to Existing Uses — The HEUAC only identified sites that would physically be able to
accommodate housing. Therefore, all sites identified have been evaluated for their ability to
actually accommodate housing units based on site features, existing development and other site
constraints.
• Ensure the Public, Property Owners and Stakeholder Engaged in the Sites Identification Process
— The HEUAC collaborated with these groups throughout the planning process to ensure local
concerns were addressed, sensitive sites were properly evaluated and preliminary sites were
made available to the public for review and discussion.
• Ensure Site Inventory Feasibility is Based Supported by Local Examples that Demonstrate Sites
can be Developed at Proposed Densities and Affordability — The HEUAC based project feasibility
assumptions on actual projects constructed, under construction or in the entitlement process. It
was important for the HEUAC to compare actual development opportunities within the Focus
Area to provide a realistic assessment of the opportunities and constraints of developing and
proposed densities and affordability levels. The HEUAC concluded that all sites in the inventory
possess the ability to accommodate residential development. The local project examples are
provided in the discussion for each Focus Area in this Appendix.
All nonresidential sites that were deemed Feasible or Potentially Feasible were included in the Sites
Inventory, except those sites whose owners expressly requested that their properties not be considered
opportunity sites. Therefore, the City does not foresee the opportunity to potentially add additional sites
to the Sites Inventory since all Feasible or Potentially Feasible sites have already been included.
As shown within the following images, the Focus Areas and Candidate Sites identified by the HEAUC align
closely with recommended sites within the SCAG HELPR Tool. This is primarily due to consistency in
methodology between the HEUAC, comprised of local experts in relevant fields, and SCAG HELPR, a data -
driven tool developed externally.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-S
City of Newport Beach
2021-2029 HOUSING ELEMENT
Figure B-2: Focus Areas for Residential Development
Dover-
Westcl iff
Figure 13-3: SCAG HELPR - Sites with Propensity for Residential Redevelopment
Select a Jurisdiction
cry or cnunq [uninmrporered� is
Newport Beach
—
Show Population and Housing Stars
Standard Filters ADU"101.,,
6 YV.— parcels of eppropnare size
©0
0 Y Le--I-d mmmercie„retell
© O
r Y Puhlic-owned land
r Ylns�de priorirygrowlh area, outside conelre�nteree
©�
r Y aur�ideen.,�ranr.,enteuysensirroeea�ee
©O
Y Inside higher opportunity emas
©�
Y Inside environmenrel jusci�e areas
© 0
6 Y elasepraximirytaservicea
© 0
Costa Mesa
r
Yi-c - A
Sen Joaquin
L. -10I
r.J cave
The Housing Element is required to identify sites by income category to meet the City's RHNA Allocation.
The sites identified within the Housing Element represent the City's ability to develop housing at the
designated income levels within the planning period (2021-2029). These sites are (i) residentially zoned
but for which no project has been proposed, (ii) have been entitled for a residential development project
(but will not yet have received building permits and a certificate of occupancy by June 30, 2021) or (iii)
Appendix B: Sites Analysis (September 2022 Final Housing Element) 3-6
City of Newport Beach
2021-2029 HOUSING ELEMENT
have been identified for (a) a rezone to a residential use from a non-residential use, or (b) for an overlay
to enable a housing use in addition to or in the place of a non-residential use.
A summary of this information is included within the Housing Resources section (Section 3) of the City's
2021-2029 Housing Element.
Table B-1 shows the City's 2021-2029 RHNA need by income category as well as a summary of the sites
identified to meet that need. The analysis shows that the City of Newport Beach has the capacity to meet
its 2021-2029 RHNA allocation through a variety of methods, including:
• Identification of additional increased capacity on existing, residentially zoned sites
• Identification of residential property for rezone to higher -density residential primary use
• Identification of non-residential property for rezone to residential primary use
• Development of approved projects which do not have certificates of occupancy
• Future development of accessory dwelling units (ADUs)
Water, Sewer, And Dry Utility Availability
Each site has been evaluated to ensure there is adequate access to water and sewer connections as well
as dry utilities. Each site is situated with a direct connection to a public street that has the appropriate
water and sewer mains and other infrastructure to service the candidate site.
The City's Sewer System Management Plan provides for the identification of sewer system distribution
throughout the community. All sites identified in the sites inventory have existing sewer system capacity
and a sewer system capacity assurance plan is provide as part of the Management Plan to ensure the
availability of future capacity citywide. Threshold criteria have been adopted to trigger any capacity
enhancements necessary based upon changes to land use and other considerations.
The City's Jurisdictional Runoff Management Plan addresses stormwater management throughout the
City as it provides for the identification and management of facilities to manage stormwater throughout
the community. According to the City's Runoff Management Plan, facilities and mitigations for potential
peak stormwater flows are not deemed a constraint to future residential development.
The Newport Beach Utilities Department, the Municipal Water District of Orange County, and the Irvine
Ranch Water District provide water service and management of the City's potable water system. As a
built -out community, the City's existing water system services all areas within the City limits through
various trunk lines and mains. Fire flow considerations are the primary factor in determining the adequacy
of service for future residential development. The City conducts regular monitoring of the water system
in the community and provides for system upgrades via capital improvement program to ensure
continued adequate water availability and service to existing and future planned residential development.
Southern California Gas Company provides natural gas services to the City of Newport Beach. SoCal Gas
is a gas -only utility and, in addition to serving the residential, commercial, and industrial markets, provides
gas for enhanced oil recovery (EOR) and EG customers in Southern California. Southern California Edison
(SCE) is the electrical service provider for Newport Beach. SCE is regulated by the California Public Utilities
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-7
City of Newport Beach
2021-2029 HOUSING ELEMENT
Commission (CPUC) and the Federal Energy Regulatory Commission (FERC) and includes 50,000 square
miles of SCE service area across Central, Coastal, and Southern California. SCE will continue to provide
adequate services to Newport Beach including increased household growth as projected by the City's
RHNA allocation.
In accordance with the California Public Utilities Commission all electric and gas service will be provided
for future development in Newport Beach as requested. SoCal Gas and Southern California Edison
regularly partner with the City to provide services and obtain authorization to construct any required
facilities. The City has a mature energy distribution system that will be able to add additional service
connections for future residential land uses.
2. Adequacy of Sites to Accommodate RHNA
The City of Newport Beach has a total 2021-2029 RHNA allocation of 4,845 units. The City is able to take
credit for 1,662 units currently within the planning process (Projects in the Pipeline), 327 units of 5t" Cycle
Sites being projected at existing buildout capacity, and 240 units of ADU's (strategy described later in this
section and in Appendix D). These three categories of existing capacity lower the total RHNA planning
need to a "Remaining Need" of 2,616 units as shown in Table B-1. The Housing Element update lists sites
that would be able to accommodate an additional 8,174 units, well in excess of the 2,616-unit RHNA need.
In addition to the units provided to meet their RHNA, the City also plans to include potential units provided
by the Banning Ranch Focus Area as extra buffer to ensure that the City would meet all of its housing
needs. The inclusion of Banning Ranch would accommodate an additional 1,475 excess units, bringing the
total potential units from rezone strategies to 9,649 units.
Newport Beach has identified sites with a capacity to accommodate 2,714 lower income dwelling units,
which is in excess of its 2,386-unit lower income housing need. The identified sites for lower income
dwelling units are on parcels that will permit residential development as a primary use at a base density
of between 30 and 60 dwelling units per acre and at an assumed density of between 50 and 60 dwelling
units per acre.
As described later in this section, the City believes that due to recent State legislation and local efforts to
promote accessory dwelling unit (ADU) production, the City can realistically anticipate the development
of 240 ADUs within the 8-year planning period. As outlined in the Sites Inventory later in this document,
the City has compiled an inventory of sites for rezone that, combined, have development potential to
wholly exceed and maintain the capacity to accommodate the RHNA Allocation throughout the 8-year
planning period. Overall, the City has adequate capacity to accommodate its 2021-2029 RHNA.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-8
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table 13-1: Summary of RHNA Status and Sites Inventory
Extremely
Low/ Very
Low Income
Low
Income
Moderate
Income
Above
Moderate
Income
Total
2021-2029 RHNA
1,456
930
1,050
1,409
4,845
RHNA Credit (Units Built)
TBD
TBD
TBD
TBD
TBD
Total RHNA Obligations
1,456
930
1,050
1,409
4,845
Sites Available
Projects in the Pipeline
175
32
1,455
1,662
Accessory Dwelling Units
163
72
5
240
51h Cycle Sites
0
287
40
327
Remaining RHNA
2,048
659
--
2,707
Airport Area Environs
Rezone
773
258
1,546
2,577
West Newport Mesa
Rezone
332
111
664
1,107
Dover-Westcliff Rezone
156
52
313
521
Newport Center Rezone
732
244
1,463
2,439
Coyote Canyon Rezone
383
153
995
1,530
Total Potential Capacity of
Rezones
2,376
818
4,981
8,174
TOTAL POTENTIAL
DEVELOPMENT CAPACITY
2,714
1,209
6,481
10,403
Sites Surplus/Shortfall
+328
+159
+5,072
+5,558
Percentage Buffer
14%
15%
360%
115%
Scenario with Banning Ranch
Banning Ranch Rezone
443
148
884
1,475
TOTAL POTENTIAL
DEVELOPMENT CAPACITY
3,156
1,357
7,366
11,878
Surplus/ Deficit
+770
+307
+5,957
+7,033
Percentage Over Need
32%
29%
423%
145%
Suitability of Non -Vacant Sites
The City has very limited vacant land resources and, therefore, understands that almost all future housing
development must occur on infill, previously developed properties. Accordingly, suitability analysis for
non -vacant sites takes into consideration history of development on infill sites and current entitlements
on infill sites. For each of the Focus Areas identified, supportive evidence of past or current development
activity within their environs have been identified.
3. Development of Very Low- and Low -Income Sites Inventory
This section contains a description and listing of the candidate sites identified to meet the City's very low
and low income RHNA need. A full list of these sites is presented in Tables B-11, B-13, B-16, B-19, B-21,
and B-23.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-9
City of Newport Beach-
2021-2029 HOUSING ELEMENT-• w _ �`'�
•:��:=yam' '� � _ �,,. :-i�.-„_ -
Projects in the Pipeline
The City has identified a number of projects currently in, or that have completed the entitlement process
which are likely to be developed and/or first occupied during the planning period and count as credit
towards the 2021-2029 RHNA allocation. Key project details are shown below in Table B-2.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-10
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-2: Projects in the Pipeline
Units by Income Level
Very Low
Moderate
Above
Project Name
Locations
Project Description
Density
Total
and Low
Moderate
Approved Projects'
Newport Airport
Northerly portion of the
Redevelopment and consolidation of 15 lots that total
46 du/acre
48
32
240
320
Village
Campus Tract, generally
16.46-acres. Up to 444 dwelling units and 297,572 sf of
(69 du/acre
bounded Birch Street,
non-residential floor area would be developed.
with density
Campus Drive,
bonus)
MacArthur Blvd. and
the extension of
Corinthian Way
Residences at
4400 Von Karman
Redevelopment of an existing surface parking area.
44 du/acre
13
-
299
312
4400 Von Karman
The project would result in 312 dwelling units, an 825-
(53 du/acre
space enclosed parking structure, a 284-space free-
with density
standing parking structure, and a one -acre public park.
bonus)
West Coast
2510 West Coast
Redevelopment of a vehicle sales lot. The project
26 du/acre
3
-
33
36
Highway Mixed-
Highway
would develop 36 dwelling units and one 5,096 sf
(36 du/acre
Use
office space.
with density
bonus)
Newport
1660 Dove Street
Redevelopment of the MacArthur Square commercial
50 du/acre
78
-
272
350
Crossings
center. The project would result in the development of
(67du/acre
350 dwelling units, 7,5000 sf of commercial space, and
with density
a 0.5-acre public park.
bonus)
Residences at
150 Newport Center
Redevelopment of a carwash. The project would result
23 du/acre
NA
-
28
28
Newport Center
Drive
in the development of 28 dwelling units.
Uptown Newport
APN: 445 134 17
The project would result in the development of 30
19.71 du/acre
NA
-
30
30
Residences Phase
dwelling units on a 1.52-acre site.
16
Plaza CDM
3900, 3928 East Pacific
The project would result in the development of six
-
-
-
6
6
Coast Highway
detached dwellings included in a larger mixed -use
development.
Ullman Sail Lofts
410 291h Street
The project would result in the construction of two
-
-
-
4
4
retail tenant spaces and four condominium spaces
over the tenant units.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-11
City of Newport Beach
2021-2029 HOUSING ELEMENT
Units by Income Level
Very Low
Moderate
Above
Project Name
Locations
Project Description
Density
Total
and Low
Moderate
Mariner's Square
1244 Irvine Avenue
The project would demolish an existing 114-unit
-
-
-22
-22
complex and construct 92 condominium spaces.
Vivante Senior
850 San Clemente Drive
Demolish the Orange County Museum. The project
-
-
90
90
Housing
would result in a 6-story combination senior housing
development with 90 dwelling units.
Pending Projects'
Uptown Newport
APN: 445 134 17
The project would result in the development of 60
56.6 du/acre
NA
-
60
60
Residences Phase
dwelling units on a 1.06-acre site.
1C Details
Newport Village
North Parcel is
Redevelopment of 9.4-acres. The project would result
20 du/acre
9
-
111
122
Mixed -Use
approximately 5.3 acres
in 122 dwelling units, 128,640 non-residential space,
and located at 2000—
parking, mew pedestrian facilities, public open spaces,
2244 West Coast
and marina improvements.
Highway. The Project's
South Parcel is
approximately 4.1 acres
and located at 2001-
2241 West Coast
Highway
1300 Bristol
1300 Bristol
Demolition of a 339,292 sf office building. The project
40 du/acre
24
-
169
193
Apartment
would result in the development of 193 dwelling units.
(98 du/acre
Project
with density
bonus)
Bay Back Landing
-
The proposed project involves land use amendments
-
-
-
49
49
to provide the legislative framework that would allow
for future mixed -use development of the site.
Amendments to the general plan and coastal land use
plan are required to change the land use designations
to a mixed -use horizontal designation, and a planned
community development plan is proposed to establish
appropriate zoning regulations and development
standards for the site. The requested approvals will
allow for a horizontally distributed mix of uses,
including recreational and marine commercial retail,
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-12
City of Newport Beach
2021-2029 HOUSING ELEMENT
Units by Income Level
Very Low
Moderate
Above
Project Name
Locations
Project Description
Density
Total
and Low
Moderate
marine office, marine services, enclosed dry -stack boat
storage, and a limited mix of freestanding multi -family
residential and mixed -use structures with residential
uses above the ground floor. In addition to the land
use amendments, other requested approvals are a lot
line adjustment and traffic study pursuant to the city's
traffic phasing ordinance. Specific project design and
site improvement approvals will be sought at a later
time.
10 Big Canyon
APN: 442-221-52
The proposed project has three components: 1) a
-
-
-
1
1
parcel map to subdivide a 1.9 acre portion of the golf
course into a legal residential lot, 2) general plan
amendment to create a new 1.9 acre parcel on the
general plan land use map and change the land use
from "parks and recreation" to "single unit residential -
detached", and 3) amend the big canyon planned
community (pc) to change the land use for the 1.9 acre
parcel from "golf course" to "low density residential"
and modify the appropriate text and pc land use map.
The proposed 1.9 acre subdivision will create a large
lot for one residential dwelling.
Mesa Drive
1501 Mesa Drive and
The project would result in six dwelling units.
-
-
-
6
6
Townhomes
20462 Santa Ana Drive
Advanced
503-505 East Balboa
The project would merge two lots and construct new
-
-
-
3
3
Champion LLC
Avenue
mixed -use buildings that would consist of three
Mixed -Use
residential and three commercial spaces.
Ritz Carlton
Owner has received approval of an entitlement
57 du/acre
-
-
-
159
Residences
application to convert 159 hotel rooms to 159
residences.
Notes:
'Approved projects have been checked and approved by the City and are in progress to begin.
z Pending projects have yet to get approval from the City but are in the process of approval.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-13
City of Newport Beach
2021-2029 HOUSING ELEMENT
Accessory Dwelling Units (ADUs)
In areas such as Newport Beach where land values are high and there is a large amount of single-family
detached housing, ADUs present a potentially more naturally affordable housing option for renters. ADUs
are often smaller in size than typical apartments or rental housing, ranging from 300 to 600 square feet
in size. They are also attractive to property owners who are able to gain rental income. Based on the
unique land values and policy planning in the City of Newport Beach, the City identified a total of 240 units
of ADU development assumed to be developed for the 8 years
The City of Newport Beach believes that ADUs present a viable option as part of the overall strategy to
develop housing at all income levels during the 2021-2029 61" Cycle Housing Element planning period.
Appendix D describes:
• Recent ADU legislation and regional actions,
• Local factors that may increase ADU development over the next eight years, and
• Actions Newport Beach will take through housing programs to incentivizing ADU development
As part of the sites analysis found within this Appendix, the City has accounted for future ADU and JADU
production using the methodology and rationale described in Appendix D of this Housing Element. SCAG
conducted a regional analysis of current market rents that can be used to assign ADUs to income
categories in Sixth Cycle Housing Elements, the analysis surveyed, market rents of 158 existing ADUs. The
analysis then determined the proportion of ADUs within each income category for both one -person and
two -person households and made assumptions for what percentage of ADUs are rented for free based on
existing literature and allocate those towards Extremely Low Income. Finally, the analysis combined
rented and non -rented ADUs into single affordability breakdown by county. Newport Beach utilized SCAGs
affordability assumptions for ADUs in Orange County. This equates to an anticipated ADU development
of 240 ADUs over the next 8 years,163 of which are anticipated to be affordable. The ADUs not designated
to meet the City's lower income RHNA need are anticipated to be 72 affordable at moderate income levels
and 5 affordable at the above moderate -income level. Detailed analysis of City policies and monitoring
requirements supporting this projection can be found within Appendix D: Accessory Dwelling Units.
Remaining Need
Table B-3 below displays the City's total RHNA allocation for the years 2021-2029 as well as the City's net
RHNA allocation after the inclusion of Projects in the Pipeline and ADUs.
Table 13-3: Low and Very Low -Income Remaining Need
Very Low Income
Low Income
RHNA Allocation
1,456
930
Pipeline Projects
97
78
Existing Zoning
0
0
Accessory Dwelling Units
60
103
Remaining Low/Very Low -Income Need
1,299
749
Appendix B: Sites Analysis (September 2022 Final Housing Element)
B-14
City of Newport Beach
2021-2029 HOUSING ELEMENT
Selection of Sites to Accommodate Remaining Need
Sites identified to meet the City's very low and low-income RHNA were selected considering the AB 1397
size requirements of at least 0.5 acres but not greater than 10 acres. Based on a public process, sites were
selected based on their realistic viability to accommodate lower -income housing within the 2021-2029
planning period.
Sites were also evaluated based on access to resources, proximity to additional residential development,
transportation and major streetway access, and resources and opportunity indicators. Section 3:
Affirmatively Furthering Fair Housing, outlines all fair housing, opportunity indicators, and environmental
resources in Newport Beach.
The City has identified sites with capacity to accommodate the City's 2021-2029 RHNA. This capacity is
based on a rezone strategy for several Focus Areas throughout the City. These Focus Areas are as follows:
• Airport Area Environs
• West Newport Mesa Area
• Dover-Westcliff Area
• Newport Center Area
• Coyote Canyon Area
• Banning Ranch Area'
The City has analyzed potential capacity based on rezone strategies specific to each area. Each of the
following sections describes the identified areas and contains a table of redevelopment assumptions and
projected unit capacities. Additionally, each Focus Area is followed by a map detailing the adequate sites
inventory, organized by area.
Through a public process, the City has assessed the feasibility of parcels in the Focus Areas to redevelop
residentially during the planning period. Those parcels deemed Feasible were then analyzed to ensure
compliance with HCD's criteria for sites designated to accommodate lower income development
(including sizing criteria). The inventory of feasible acreage for redevelopment within each Focus Area was
developed with this process. Table B-4 below summarizes the key statistics for the rezone strategies for
all Focus Areas. The specific development assumptions (both on affordability and overall development
potential) that produce the Potential Units are described, area -by -area, in the Sites Inventory of this
document.
' Units assigned to the Banning Ranch Focus Area are not used to accommodate any portion of the 6th cycle RHNA;
however, to the extent the City is successful in creating housing opportunities at Banning Ranch, those opportunities
may be used to satisfy a portion of the City's 6th cycle RHNA need.
Appendix B: Sites Analysis (September 2022 Final Housing Element)
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table 13-4: Low/Very Low -Income Rezone Strategy by Focus Area
Focus Area
Anticipated
Feasible Acreage
Assumed
Average Rezone
Density
Potential Low/Very Low -
Income Units
Airport Area Environs
172
50 du/ac
773 units
West Newport Mesa Area
47
50 du/ac
332 units
Dover-Westcliff Area
20
50 du/ac
156 units
Newport Center Area
163
50 du/ac
732 units
Coyote Canyon Area
34
60 du/ac
383 units
TOTAL
436
--
2,376 units
Banning Ranch Area
30
50 du/ac
443 units
TOTAL with Banning Ranch
466
--
2,819 units
The City's recent history of granting entitlement to residential uses with affordable units is shown below:
• Newport Airport Village
• Residences at 4400 Von Karman
• West Coast Highway Mixed -Use
• Newport Crossings
These projects provide evidence of recently approved projects with affordable components developed at
higher densities. Additional details, including project status, evidence of affordability, evidence of
nonvacant residential development, and evidence of lot consolidation are shown in Table 13-2: Projects in
the Pipeline and Attachment B-3. The Section 4: Housing Plan outlines actions the City will take to
promote the development of affordable units within the Focus Areas.
4mall 4itP�
Notably, 20 sites within the sites inventory do not meet the recommended sizing criteria of a minimum of
0.5 acres and are proposed to provide low and very low income housing. Although all 20 small sites are
non -vacant, all small site referenced in this section have had specific written development interest. Of the
20 small sites included in the Inventory, one is part of an existing pipeline project. The rest of the small
sites are included in the inventory because each site's owner has expressed written interest in housing
development on that site during the planning period. Table B-5 below provides a brief summary of each
small site.
Appendix B: Sites Analysis (September 2022 Final Housing Element)
B-16
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table 13-5: Small Sites Inventory
Above
Letter of
Moderate
Total Net
APN
Vacant
Acreage
Focus Area
LVL Units
Moderate
Interest?
Units
Units
Units
445 14104
No
0.26
Y
Airport Area
4
1
8
13
445 141 13
No
0.29
Y
Airport Area
4
1
9
14
Dover-
049 122 03
No
0.14
Y
2
1
4
7
Westcliff
Dove r-
047 041 05
No
0.11
Y
2
1
2
5
Westcliff
Dove r-
047 041 25
No
0.06
Y
1
0
2
3
Westcliff
West
42414117
No
0.23
Y
Newport
3
1
7
11
Mesa Area
West
42414117
No
0.23
Y
Newport
3
1
7
11
Mesa Area
Pipeline
425 471 55
No
0.20
3
0
32
35
Project
445 141 31
No
0.40
Y
Airport Area
6
2
12
20
Newport
44216106
No
0.33
Y
5
2
8
15
Center Area
Newport
44216107
No
0.20
Y
3
1
5
9
Center Area
West
42414110
No
0.37
Y
Newport
5
2
9
16
Mesa Area
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-17
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table 13-5: Small Sites Inventory
Above
Letter of
Moderate
Total Net
APN
Vacant
Acreage
Focus Area
LVL Units
Moderate
Interest?
Units
Units
Units
427 141 13
No
0.37
Y
Airport Area
6
2
11
19
Newport
442 09106
No
0.32
Y
5
2
9
16
Center Area
Newport
442 09101
No
0.44
Y
7
2
13
22
Center Area
Newport
442 09108
No
0.39
Y
6
2
11
19
Center Area
Newport
442 09102
No
0.25
Y
4
1
7
12
Center Area
Newport
442 09104
No
0.38
Y
6
2
11
19
Center Area
Newport
442 09103
No
0.36
Y
5
2
11
18
Center Area
Newport
442 09107
No
0.13
Y
2
1
4
7
Center Area
439 021 13
No
0.31
Y
Airport Area
2
1
5
8
439 021 12
No
0.17
Y
Airport Area
2
1
5
8
439 02103
No
0.16
Y
Airport Area
5
2
9
16
439 352 21
No
0.44
Y
Airport Area
6
2
13
21
439 352 17
No
0.37
Y
Airport Area
5
2
11
18
439 352 20
No
0.44
Y
Airport Area
6
2
13
21
439 352 22
No
0.21
Y
Airport Area
3
1
6
10
Total:
111 units
38 units
244 units
393 units
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-18
City of Newport Beach
2021-2029 HOUSING ELEMENT
History of Small Site Development
The City of Newport Beach has made a practice of consolidating sites in order to develop housing (see
Attachment A, Lidos Villas Project). Furthermore, the City has recently been in the process of approving
projects that would consolidate sites below the 0.5 acre HCD sizing criteria. For example, a recently
approved project proposed to consolidate five individual lots ranging in size from 0.05 to 0.49 acres into
a larger parcel that would accommodate 36 units at a density of 26 du/acre in addition to a 5,096 s.f.
office space (see Attachment B-3, West Coast Highway Mixed -Use Project). Another recently approved
project proposed the consolidation of three parcels, two of which were below HCD's sizing criteria. The
proposed project would provide up 350 residential units as well as commercial and open space
components (see Attachment B-3, Newport Crossings Project). Given the interest expressed in the small
sites above, the City will likely continue approving lot consolidation projects in the future.
Calculation of Unit Capacity
Taking into account development standards, unit capacity for sites identified to accommodate low and
very low units was calculated by multiplying the net acreage of the site by the assumed density established
for each focus area. To support this assumption, the City has identified programs and policies to encourage
developer interest and financial feasibility. These programs and policies are detailed in Section 4: Housing
Plan. Additionally, based on previous development trends, the City assigned each Focus Area a percentage
of its land area which the City projects to redevelop — meaning the percentage of land area within each
Focus Area, which is expected to "turn over", or develop with residential units during the planning period.
City Commitments to Higher Density Housing
Although high density housing has not been achieved in some zones of the City, projects in areas such as
the Airport Area prove that when zoning allows, high density housing is developed. The City has
successfully implemented projects with high densities such as Phase 1A One Uptown Newport
Apartments, which has a density of 56 du/acre. This project was developed in the Airport Area and
construction was completed in 2017. The project provides approximately 492 total dwelling units with 91
being Low and Very Low -Income dwelling units. The Project has two more phases of construction that
would result in high density housing as well.
Evidence Supporting Development of Opportunity Sites at Higher
Densities
Pursuant to Government Code Section 65583.2, a minimum density of 30 du/ac shall be deemed
appropriate to accommodate housing for lower -income households for urbanized areas.
Within the current General Plan, the Airport Area is the only area in City that allows higher density
residential housing with a maximum allowed density of 50 dwelling units per acre. This higher density
residential opportunity was created as part of the 2006 Comprehensive General Plan Update. The General
Plan identified this area as one of the greatest opportunities in the community to create new residential
neighborhoods including workforce housing, through the replacement of existing uses and new
construction on underutilized surface parking lots. Most of the properties in the area are currently
designated by the General Plan as Mixed -Use Horizontal (MU-1-12), which provides for the horizontal
intermixing of uses, including the development of free-standing multi -family residential units. Residential
units in the MU-H2 designation must developed at a maximum density of 50 units per acre (excluding
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-19
City of Newport Beach
2021-2029 HOUSING ELEMENT
density bonus) and minimum density of 30 units per acre. Additionally, General Plan Policy 6.15.5 states
that of the 2,200 units permitted within the Airport Area, only 550 units may be developed as infill on
surface lots or areas not occupied by buildings. The remaining 1,650 units are permitted as the
replacement of existing nonresidential uses or industrial uses. When a development phase includes a mix
of residential and nonresidential uses or replaces existing industrial uses, the number of peak hour trips
generated by the cumulative development of the site shall not exceed the number of trips that would
have resulted from the development of the underlying permitted nonresidential uses.
Based on recent trends in residential development projects, and discussions with property owners,
developers, and real estate professionals, it has become evident that the single most important land use
change leading the new residential redevelopment has been the 30- 50 dwelling unit per acre allowances
that were created in 2006.
As illustrated in Table 13-2: Projects in the Pipeline, the City has approved several new residential projects
in the Airport Area, all designed at or exceeding the maximum densities allowed of 50 dwellings per acre.
In cases were the base densities were proposed below 50 dwellings per unit, the density was maximized
based on the replacement trips the underlying commercial uses allowed for. But in all cases, a density
bonus was utilized to exceed the maximum 50 dwelling unit per acre limit and increase the development
yield. The City believes these projects are evidence that increasing densities to 50 dwelling per acre
provide the necessary incentive to redevelop the existing nonvacant sites.
Although the 2006 Comprehensive General Plan also created new mixed -use housing opportunities in
other parts of the City such as Mariners Mile and Westcliff Dover, the allowable densities are limited to
26.7 dwelling to the acre. Based on discussion with prospective developers and existing property owners
who have contemplated residential development in these other opportunity areas, the allowable density
of 26.7 dwelling per acre is not sufficient to create an adequate return on investment. Additionally, several
of the mixed -use zoning opportunities in the City require a minimum ratio of commercial floor area to be
provided in order to development a residential component. This minimum commercial component adds
significant cost to a project due the intensive parking needs commercial uses generate, the need to
incorporate expensive parking structures to accommodate the parking demand, and increased
construction costs due to the increased size of a compliant project. In West Newport Mesa, additional
multi -family residential opportunities were created; however, densities are limited to an average of 18
dwellings per acre. Based on discussion with prospective developers and existing property owners, the
low -density limits were cited as constraints to redevelopment.
Given the success with housing opportunities that were created with densities of 50 dwelling per acre,
the City believes committing to rezoning the other focus Areas to allow higher density residential with
similar 50 dwelling per acre allowance. The City has committed to rezoning of sites to accommodate these
higher densities in Policy Actions 1A through 1F. These rezone programs will include the requisite zoning
standards that support the development of housing at these densities. Additionally, Policy 3A addresses
the development of objective design standards appropriate for higher density product, Policy 4C and 4D
addresses incentives for affordable housing and Policy 4H addresses furthering opportunities for
residential in mixed use zones.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-20
City of Newport Beach
2021-2029 HOUSING ELEMENT
Given the success of housing opportunities created with densities of 50 dwelling units per acre, the City
believes that it can successfully rezone other Focus Areas to allow for similar housing densities. Notably,
each focus area has a redevelopment percentage applied to it, meaning a reduction in anticipated
potential capacity based on the understanding that not every candidate site in the inventory will develop
as housing during the planning period. These redevelopment percentage assumptions mean that the City
has identified sites with the potential to accommodate far more than the anticipated "Total Net Units"
shown below. Rezoning these Focus Areas would result in an increase of high -density housing in six
different zones of the City and would increase the stock of affordable housing throughout the City of
Newport Beach. Below is Table B-6: Focus Area Strategies that describes the characteristics of and
contribution to the housing stock of each Focus Area.
Table 13-6: Focus Area Strategies
Total Net Units
Inventory
Low and
Focus
Redevelopment
Assumed
Total Net
Above
Area
Acres)
Percentage
Density
Moderate
Units
(
Low
Moderate
irport
50
Area
172
30%
du/Ore
773
258
1,546
2,577
West
Newport
50
Mesa
47
47%
du/acre
332
111
664
1,107
Area
20
52/
156
52
313
521
W stcliff
du/Ore
Newport
50
Center
163
30%
du/acre
732
244
1,463
2,439
Area
Coyote
60
Canyon
34
75%
du/Ore
383
153
995
1,530
Area
Totals:
435
-
-
2,376
818
4,981
8,174
Banning
30
100%
443
148
884
1,475
Ranch
du/Ore
Totals
with
465
-
-
2,818
966
5,865
9,649
Banning
Ranch:
The City has also identified strategies in which these densities can be achieved in Section 4: Housing Plan
under Housing Goal #1. For additional information about recently completed projects, see Attachment B-
1: Completed Projects of Mixed Densities.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-21
City of Newport Beach
2021-2029 HOUSING ELEMENT
Evidence Supporting Residential Development in Mixed -Use Zones
Considering existing development and a lack of vacant land, the City's housing strategy to demonstrate
capacity for the 2021-2029 RHNA growth need relies on infill development opportunities within six focus
areas. In each of these areas, existing land use policy either allows residential by -right, allows residential
by -right through a mixed -use development project, or does not allow residential at all. As part of the
identification of new sites for each area, the City will adopt new land use regulations (Policy Actions 1A to
1F) that will ensure residential development is permitted by -right with densities ranging between 50 and
60 du/ac. It is not the City's intent to exclude the permitting of nonresidential development in these areas,
as it is a vital land use component that contributes to a livable, mixed -use character in support of many
citywide goals.
While the City understands its RHNA obligations, it must also continue to accommodate growth for jobs,
retail, services, and amenities, especially in existing mixed -use land use category areas. In order to account
for and address this, the City has evaluated each of the focus areas and has assigned a redevelopment
percentage for each area to account for assumptions of nonresidential growth. The percent assumptions
vary depending on the past performance of recent development and future projected trends. In areas
where there are pending applications and owner or developer interest, assumptions for residential were
increased. Unit yields were primarily based upon written developer interest from property owners of
these sites. Conversely, assumptions were decreased in areas where residential development is more
speculative. The resulting percentages for residential redevelopment are as follows:
• In the Airport Focus Area, 30% of the 140 acres area is assumed to accommodate residential units
• In the West Newport Mesa Focus Area, 47% of the 47 acres is assumed to accommodate
residential units
• In the Dover-Westcliff Focus Area, 52% of the 20 acres is assumed to accommodate residential
units
• In the Newport Center Focus Area, 30% of the 163 acres is assumed to accommodate residential
units
• In the Coyote Canyon Focus Area, 75% of the 34 acres is assumed to accommodate residential
units
• While the Banning Ranch Focus Area identifies opportunity sites, they are not used to
accommodate any part of the 2021-2029 RHNA growth need
Beyond this conservative approach with residential redevelopment percentages, the actual development
trends for projects in existing mixed -use areas of Newport Beach, including the Airport Area, are heavily
towards residential and away from commercial. This is evidenced by projects identified in Table B-10
(Airport Area Pipeline Projects Summarized). It is notable that none of these sites were zoned for primarily
residential development, rather residential development was a redevelopment option. With the
exception the MacArthur at Dolphin -Striker project (a small commercial center), there have been no major
standalone commercial projects in the Airport Area for over two decades. Furthermore, projects in other
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-22
City of Newport Beach
2021-2029 HOUSING ELEMENT
mixed -use areas, including Mariner's Mile, where zoning requires a minimum commercial component as
part of a mixed -use development, have been requesting and obtaining development incentives through
density bonus to reduce the amount of commercial floor area required. Recent examples include the West
Coast Highway Mixed -Use project, which included 36 new residential units and a development incentive
to reduce the required nonresidential floor area from 0.25 floor area ratio (FAR) to just under 0.125 FAR.
In the same area, the City recently accepted a preliminary development application for a larger -scale
project (Newport Village) that will also include a request to reduce the required commercial floor area as
part of the mixed -use project.
Between the redevelopment percentage and the demonstrative projects exhibiting a solid trend towards
residential development, the City believes mixed -use designated areas are conducive to residential
development and essential to maintaining thriving, vibrant neighborhoods.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-23
City of Newport Beach
2021-2029 HOUSING ELEMENT
Development of Moderate and A,bo ve Moderate Sites Inventory
This section contains a description and listing of the candidate sites identified to meet the City's moderate
and above moderate income RHNA need. A full list of these sites is presented Tables B-12, B-14, B-17, 13-
20, B-22, and B-24.
Projects in the Pipeline
The City has identified a number of projects currently in the entitlements process which are likely to be
developed and/or first occupied during the planning period and count as credit towards the 2021-2029
RHNA allocation. Notably, Projects in the Pipeline can completely accommodate the City's Above
Moderate RHNA allocation. Table B-7 below summarizes the potential units from Projects in the Pipeline:
Table 13-7: Moderate and Above Moderate -Income Projects in the Pipeline
Moderate Income Above Moderate Income
Pipeline Projects 32 units 1,455 units
Accessory Dwelling Units for Moderate and Above Moderate -Income
Households
As noted in Section 3 of this Appendix, the City anticipates a total of 72 ADUs affordable at moderate
income levels and 5 ADUs affordable at the above moderate -income level. The ADU production strategy
for the City is thoroughly described in Appendix D: Accessory Dwelling Units.
Remaining Need
Table B-8 below displays the City's RHNA allocation need affordable to moderate and above moderate -
income households for the years 2021-2029 as well as the City's net RHNA allocation need affordable to
moderate and above moderate households after the inclusion of Projects in the Pipeline and ADUs.
Table 13-8: Moderate and Above Moderate -Income Remaining Need
Moderate Income
Above Moderate Income
RHNA Allocation
1,050 units
1,409 units
Pipeline Projects
32 units
1,455 units
Existing Zoning
287 units
40 units
Accessory Dwelling Units
72 units
5 units
Remaining Moderate/Above Moderate -Income
Need
659 units
No remaining need
Selection of Sites to Accommodate Remaining Need
As noted in Section 3 of this Appendix, the City conducted a public process to establish Focus Areas for
rezone. Similar to the strategies laid out for lower -income units, the development of moderate and above
moderate units was projected within each Focus Area as well. Although the specific buildout assumptions
(both on affordability and overall development potential) that produce the Potential Units are described,
area -by -area, in the Sites Inventory of this document, Table B-9 below serves as a summary:
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-24
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-9: Moderate/Above Moderate -Income Rezone Strategy by Focus Area
Focus Area
Anticipated
Feasible
Acreage
Assumed Rezone
Density
Potential
Moderate -Income
Units
Potential Above
Moderate -
Income Units
Airport Area Environs
172 ac
50 du/ac
258
1,546
West Newport Mesa Area
47 ac
50 du/ac
111
664
Dover-Westcliff Area
20 ac
50 du/ac
52
313
Newport Center Area
163 ac
50 du/ac
244
1,463
Coyote Canyon Area
34 ac
60 du/ac
153
995
TOTAL
436 ac
-
818 units
4,981 units
Banning Ranch Area
30 ac
50 du/ac
148 units
884 units
TOTAL with Banning Ranch
466 ac
--
966 units
5,865 units
5. The Sites /n ventory
Each of the following sections describes the identified areas and contains a table of redevelopment
assumptions and projected unit capacities. Additionally, each Focus Area is followed by a map detailing
the adequate sites inventory, organized by area. This inventory should be understood as a large pool of
sites from which the City can accommodate development and maintain capacity to meet the RHNA
allocation as assigned. It is unlikely every site will develop housing units; therefore the larger inventory
has been presented with realistic buildout assumptions. These buildout assumptions serve to both help
the City properly project housing development for transportation and infrastructure needs, and to more
accurately project development for the purposes of the Sites Inventory.
Letters of Interest
Many sites within the sites inventory are characterized as non -vacant. Of those sites, 91 have received
letters of interest from developers that would like to build housing and other mixed -use projects on the
parcels. Approximately 25 percent of all sites in the inventory have an explicit letter of interest from an
owner/developer. The large volume of letters of interest proves that there is a strong appetite within the
City of Newport Beach to develop on non -vacant sites including small, non -vacant sites (see Section 3,
Small Sites). This is further supported by the list of in the pipeline projects list in this Appendix.
Airport Area Environs
The Airport Area Environs has been an active area for development in the City for several years. The
development of higher -density residential units within this Focus Area can be expected to accommodate
lower -income units. Increasing density within the Airport Area was also a key strategy as part of the City's
4th and 5th Cycle Housing Element Updates. As a result, high -density developments such as Phase 1A of
the Uptown Newport Apartments have been made possible. This development achieved a density of 56
du/acre and provided about 91 units of Low and Very Low -Income housing in the City. There are plans to
continue this development, which are described below.
In addition to the Uptown Newport Apartment Project, there is interest to develop multi -family housing.
As of November 2021, there are four approved and two pending projects within the Airport Area. These
projects would construct higher density housing for the area. Table B-10 is a summarized version of
Attachments 1 through 3. For more detailed information, please visit the Attachments.
Appendix B: Sites Analysis (September 2022 Final Housing Element) 13-25
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-10: Airport Area Pipeline Projects Summarized
Project
Density
Evidence for Future Development
Approved Projects
Newport Airport Village
46 du/acre (69 du/acre with
The Project consolidates multiple
density bonus)
smaller lots into one large development
site. The Project demonstrates that
nonvacant sites are viable for
redevelopment into high -density
residential and mixed -use
developments.
Residences at 4400 Von Karman
44 du/acre (53 du/acre with
This Project would convert an
density bonus)
underutilized parking lot into higher
density residential development.
Newport Crossings
67 du/acre (50 du/acre
The Subject Property is a pentagonal -
excluding density bonus)
shape site and consists of three
contiguous parcels. The lot line
adjustment allows the reconfiguration
of the underlying parcels to create a 0.5-
acre parcel (Parcel 2) to be deeded to the
City for public park use consistent with
General Plan requirements, a 0.11-acre
parcel (Parcel 3) for public parking for
park use and emergency vehicle access
for the mixed -use development, and
5.08-acre parcel (Parcel 1) for the
mixed -use development.
Uptown Newport Residences
19.71 du/acre
The Project site currently has a single -
Phase 16
story office building. The Project would
demonstrate that nonvacant sites can
be viable for redevelopment into higher
density residential and mixed -use
developments.
Pending Projects
Uptown Newport Residences
56.60 du/acre
The Project site currently has a single -
Phase 1C
story office building. The Project would
demonstrate that nonvacant sites can
be viable for redevelopment into higher
density residential and mixed -use
developments.
1300 Bristol Apartment
98 du/acre (40 du/acre
The Project site currently has a two -
excluding the density bonus)
story office building. The Project would
demonstrate that nonvacant sites can
be viable for redevelopment into higher
density residential and mixed -use
developments.
Of the 223 acres of land deemed suitable for residential development in the Airport Area, 172 acres met
the criteria required by AB 1397 for sites projected to accommodate Low and Very Low -Income units.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-26
City of Newport Beach
2021-2029 HOUSING ELEMENT
•;�:�=yam' •�. � �-r�.-.,_ _�
Although the parcels within the Sites Inventory have the capacity to accommodate approximately 8,272
units of development (at an assumed unit yield of 50 du/ac), an assumption of approximately 30%
redevelopment has been applied considering development history, economic factors, and AFFH
requirements. The assumed buildout is therefore projected at 2,440 units, 732 of which are projected to
develop affordably.
Table B-11 below displays the capacity and opportunity in this Focus Area which can help accommodate
the City's RHNA allocation. Figure B-3 below maps the sites identified within this Focus Area which can
help accommodate a portion of the City's RHNA allocation.
Table B-11: Airport Area Environs - Redevelopment Analvsis
Feasible
Assumed
Net Units
Above
Acreage
Density
Low Very Low
Moderate
Total
Moderate
172 acres
50 du/ac
732 units
258 units
1,464 units
2,440 units
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-27
City of Newport
2021-2029 HOUSING
Beach
Figure 13-3: Airport Area Environs — Sites Inventory
Site Inventory:
Airport Area Environs
LEGEND
City Boundary
5th Cycle Sites
Pipeline Projects
Opportunity Sites
Key Map
i3 ea h�
5M'c�
•r { {IIfG YI
- mmmmmE=== Feet
NORTH 0 500 1,000
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-28
City of Newport Beach
Table B-12: Airport Area Sites Inventory
Density (Du/Ac)
Assumed Net Unit
Existing
Potential
Yield
Parcel
Existing
General
5th
Existing
Gross
Buildable
HCD
Rezoned
Assumed
Existing Use and Explanation of
Letter
Focus
Inventory/
Number
Owner
Zoning
Plan
Vacancy
Cycle
Units
Acreage
Acreage
Sizing
Existing
Rezoned
Unit
Net Yield
Low/
Propensity
Interest
Area
Map ID
Land Use
7
Site.
7
Criteria.
Zone
Density
Yield
Very
Mod
Above
7
Density
(Assumed)
Low
Mod
This parcel currently has an aging
apartment complex that does not show
signs of renovation and several parking
Palm Mesa
lots. This parcel has the opportunity to
Airport
43924120
Ltd
SP 7
RM
No
148
5.88
5.88
Yes
0
50
294
146
44
15
87
redevelop at a higher density or to
Area
17
accommodate additional development to
the units currently on the property on the
parking lot areas.
This parcel was formerly a part of the "Koll
Residences" and are contemplated as
potential "infill housing' (not
"replacement housing") located on
Beachwood
surface parking lots under the Airport area
427 121 24
Properties
OA
AO
No
0
0.67
0.67
Yes
0
50
33
33
10
3
20
provisions of the 2006 General Plan. An
Airport
18
LLC
application has been filed with the City by
Area
Picerne for a new design of a residential
project and this should be sufficient
evidence of the desire of the owner to use
the property for housing.
This parcel was formerly a part of the "Koll
Residences" and are contemplated as
potential "infill housing' (not
"replacement housing") located on
Beachwood
surface parking lots under the Airport area
427 121 24
Properties
OA
AO
No
0
0.67
0.67
Yes
0
50
33
33
10
3
20
provisions of the 2006 General Plan. An
Airport
18
LLC
application has been filed with the City by
Area
Picerne for a new design of a residential
project and this should be sufficient
evidence of the desire of the owner to use
the property for housing.
The surface parking lot on this parcel is
owned by the Irvine Company at SEC
MacArthur & Campus. The parking
structure on this parcel is a part of the
Airport
445 121 17
Co Irvine
PC
CO-G
No
0
0.91
0.91
Yes
0
50
45
45
14
5
26
Irvine Company Class A offices. The
Area
20
sizeable parking fields and parking
structure on the parcel give opportunity
for housing development.
Todd Todd
This parcel is already approved by the City
Airport
445 161 03
Schiffman
PC
MU-H2
No
0
0.69
0.69
Yes
0
50
34
34
10
3
21
for Newport Crossings multi -tenant
Area
21
housing project.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-29
City of Newport Beach
2021 �"'...
Table B-12: Airport Area Sites Inventory
Density (Du/Ac)
Assumed Net Unit
Existing
Potential
Yield
Parcel
Existing
General
5th
Existing
Gross
Buildable
HCD
Rezoned
Assumed
Existing Use and Explanation of
Letter
Focus
Inventory/
Number
Owner
Zoning
Plan
Vacancy
Cycle
Units
Acreage
Acreage
Sizing
Existing
Rezoned
Unit
Net Yield
Low/
Propensity
Interest
Area
Map ID
Land Use
7
Site.
7
Criteria.
Zone
Density
Yield
Very
Mod
Above
7
Density
(Assumed)
Low
Mod
This parcel is already approved by the City
445 16103
Todd Todd
PC
MU-112
No
0
1.04
1.04
Yes
0
50
51
51
15
5
31
for Newport Crossings multi -tenant
Airport
22
Schiffman
Area
housing project.
The current owner of the property has
Newport Golf
Airport
119 300 17
SP-7
PR
No
0
1.38
1.38
Yes
0
50
69
57*
17
6
34
expressed to City staff written interest to
Y
23
Club LLC
Area
develop housing.
The current owner of the property has
Newport Golf
Airport
119 310 04
SP-7
PR
No
0
3.70
3.70
Yes
0
50
184
152*
46
15
91
expressed to City staff written interest to
Y
24
Club LLC
Area
develop housing.
The current owner of the property has
Newport Golf
Airport
119 300 15
SP-7
PR
No
0
1.52
1.52
Yes
0
50
76
62*
19
6
37
expressed to City staff written interest to
Y
25
Club LLC
Area
develop housing.
The current owner of the property has
Newport Golf
Airport
119 300 16
SP-7
PR
No
0
7.30
7.30
Yes
0
50
364
299*
89
30
180
expressed to City staff written interest to
Y
26
Club LLC
Area
develop housing.
Birch
This parcel contains vegetation and excess
427 131 16
Development
OA
AO
No
0
0.67
0.67
Yes
0
50
33
33
10
3
20
parking stalls and is identified as a site for
Airport
27
Co
potential housing.
Area
This parcel contains office space for an
Dekk
Airport
427 12101
OA
AO
No
0
0.73
0.73
Yes
0
50
36
36
11
4
21
analytical data company and is identified
28
Associates LP
as a site for potential housing.
Area
This parcel is currently under construction
427 131 14
Chiappero
OA
AO
No
0
0.67
0.67
Yes
0
50
33
33
10
3
20
as a multi -story high rise apartment
Airport
29
complex.
Area
This parcel is a part of the "Koll Office
Condos" (SEC Campus and Von Karman).
427 12102
Birch
OA
AO
No
0
0.67
0.67
Yes
0
50
33
33
10
3
20
Due to the existing use of the parcel, it is
Airport
30
identified as a possible site of housing
Area
development.
This parcel is a part of the "Koll Office
Condos" (SEC Campus and Von Karman).
427 131 15
Chiappero
OA
AO
No
0
0.67
0.67
Yes
0
50
33
33
10
3
20
Due to the existing use of the parcel, it is
Airport
31
identified as a possible site of housing
Area
development.
This parcel contains office space for an
City National
Airport
445 131 26
PC
MU-H2
No
0
1.10
1.10
Yes
0
50
55
55
17
6
32
architecture company and is identified as
32
Bank
Area
a site for potential housing.
4400
This parcel contains vegetation and paved
445 122 13
Macarthur
PC
MU-112
No
0
0.71
0.71
Yes
0
50
35
35
11
4
20
sidewalk and is identified as a site for
Airport
33
Property
potential housing.
Area
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-30
City of Newport Beach
Table B-12: Airport Area Sites Inventory
Density (Du/Ac)
Assumed Net Unit
Existing
Potential
Yield
Parcel
Existing
General
5th
Existing
Gross
Buildable
HCD
Rezoned
Assumed
Existing Use and Explanation of
Letter
Focus
Inventory/
Number
Owner
Zoning
Plan
Vacancy
Cycle
Units
Acreage
Acreage
Sizing
Existing
Rezoned
Unit
Net Yield
Low/
Propensity
Interest
Area
Map ID
Land Use
7
Site.
7
Criteria.
Zone
Density
Yield
Very
Mod
Above
7
Density
(Assumed)
Low
Mod
Mandarin
The current owner of the property has
445 133 06
Investment
PC
MU-H2
No
0
0.75
0.75
Yes
0
50
37
37
11
4
22
expressed to City staff written interest to
Y
Airport
34
Group
allow housing.
Area
This parcel was formerly a part of the "Koll
Residences" and are contemplated as
Von Karman
potential "infill housing" (not
Airport
445 131 21
Ventures LLC
PC
MU-H2
No
0
1.19
1.19
Yes
0
50
59
59
18
6
35
"replacement housing") located on
Area
35
surface parking lots under the Airport area
provisions of the 2006 General Plan.
This parcel is occupied by an office
Carl's Jr
building at SWC Campus and Von Karman.
Airport36
445 121 11
Restaurants
PC
CG
No
0
1.38
1.38
Yes
0
50
68
68
20
7
41
This parcel could be combinable with
Area
LLC
parcel 59.
This parcel contains office space for
445 13123
Big Man On
PC
MU-H2
No
0
0.53
0.53
Yes
0
50
26
26
8
3
15
lawyers and identified as a site for
Airport
38
Campus LLC
potential housing.
Area
Although this parcel is bisected by the
65dB line, City policy regarding noise
Hg Newport
dampening eliminates this impediment to
Airport
44513115
Owner LLC
PC
MU-H2
No
0
2.01
2.01
Yes
0
50
100
100
30
10
60
development. Additionally, the presence
Area
39
of an auto -detailing shop presents the
opportunity to develop housing.
This parcel is a small banking building,
regular in shape and could potentially
445 122 05
Craig Realty
PC
MU-H2
No
0
0.80
0.80
Yes
0
50
39
39
12
4
23
stand on its own as housing. Consolidating
Airport
40
this parcel would make for a more
Area
developable scale.
John Hancock
This parcel represents existing commercial
Airport
44513118
Life
PC
MU-H2
No
0
1.61
1.61
Yes
0
50
80
80
24
8
48
development.
Area
41
John Hancock
This parcel represents existing commercial
Airport
44513119
Life
PC
MU-H2
No
0
2.30
2.30
Yes
0
50
115
115
35
12
68
development.
Area
42
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-31
City of Newport Beach
Table B-12: Airport Area Sites Inventory
Density (Du/Ac)
Assumed Net Unit
Existing
Potential
Yield
Parcel
Existing
General
5th
Existing
Gross
Buildable
HCD
Rezoned
Assumed
Existing Use and Explanation of
Letter
Focus
Inventory/
Number
Owner
Zoning
Plan
Vacancy
Cycle
Units
Acreage
Acreage
Sizing
Existing
Rezoned
Unit
Net Yield
Low/
Propensity
Interest
Area
Map ID
Land Use
7
Site.
7
Criteria.
Zone
Density
Yield
Very
Mod
Above
7
Density
(Assumed)
Low
Mod
4400
This parcel contains office space for
445 122 12
MacArthur
PC
MU-H2
No
0
1.17
1.17
Yes
0
50
58
58
17
6
35
banking and insurance companies and
Airport
44
Property
identified as a site for potential housing.
Area
This parcel is owned by Hoag. Staff has
informed the subcommittee that UCI will
be building a major medical facilities and
hospital across the Jamboree (in Irvine). It
Hoag Mem
is likely that this parcel will be used by
Airport
445 15109
Hosp
PC
MU-H2
No
0
1.35
1.35
Yes
0
50
67
67
20
7
40
Hoag to complement the UCI medical
Area
45
Presbyterian
facilities, but it is possible that Hoag may
consider workforce housing. A letter
should be sent to Hoag to confirm Hoag's
long-term land for those parcels.
This parcel does not look to have any
parking facilities, as the parcel is not much
Ferrado
Airport
445 122 09
PC
MU-H2
No
0
1.03
1.03
Yes
0
50
51
51
15
5
31
larger than the building footprint, yet is
46
Newport LLC
identified as a potential site for housing
Area
development.
Kcn
This parcel has a functioning office and
445 131 31
Management
PC
MU-H2
No
0
2.58
2.58
Yes
0
50
128
128
38
13
77
identified as a potential location for
Airport
47
LLC
housing.
Area
This parcel is owned by the Irvine
Company at SEC MacArthur & Campus.
Mac Arthur
There are somewhat sizeable parking
Airport
445 12105
Court LLC
PC
CO-G
No
0
0.74
0.74
Yes
0
50
37
37
11
4
22
fields on the parcel, and the property
Area
49
owner should be advised that the addition
of housing to the parcel might be possible.
The current owner of the property has
445 13109
4440 Vka Tic
PC
MU-H2
No
0
0.66
0.66
Yes
0
50
32
32
10
3
19
expressed to City staff written interest to
Y
Airport
50
3 LLC
allow housing.
Area
This parcel is already approved by the City
445 15101
County Of
PC
PF
No
0
7.78
7.78
Yes
0
50
388
388
116
39
233
for Newport Crossings multi -tenant
Airport
52
Orange
housing project.
Area
This parcel is owned by the Irvine
Company at SEC MacArthur & Campus.
Mac Arthur
There are somewhat sizeable parking
Airport
44512114
Court LLC
PC
CO-G
No
0
7.81
7.81
Yes
0
50
390
390
117
39
234
fields on the parcel, and the property
Area
53
owner should be advised that the addition
of housing to the parcel might be possible.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-32
City of Newport Beach
Table B-12: Airport Area Sites Inventory
Density (Du/Ac)
Assumed Net Unit
Existing
Potential
Yield
Parcel
Existing
General
5th
Existing
Gross
Buildable
HCD
Rezoned
Assumed
Existing Use and Explanation of
Letter
Focus
Inventory/
Number
Owner
Zoning
Plan
Vacancy
Cycle
Units
Acreage
Acreage
Sizing
Existing
Rezoned
Unit
Net Yield
Low/
Propensity
Interest
Area
Map ID
Land Use
7
Site.
7
Criteria.
Zone
Density
Yield
Very
Mod
Above
7
Density
(Assumed)
Low
Mod
This parcel is designated for a hotel use
that is an identified as a possible
Bre & Esa
candidate for housing. The property
Airport
445 121 18
Properties
PC
CG
No
0
2.65
2.65
Yes
0
50
132
132
40
13
79
owner should be advised that a land use
Area
54
LLC
change to accommodate housing might be
possible.
This parcel is already approved by the City
445 16104
4425
PC
MU-H2
No
0
1.69
1.69
Yes
0
50
84
84
25
8
51
for Newport Crossings multi -tenant
Y
Airport
55
Jamboree LLC
Area
housing project.
The current owner of the property has
445 14104
Coastal Azul
PC
MU-H2
No
0
0.26
0.26
No
0
50
13
13
4
1
8
expressed to City staff written interest to
Y
Airport
56
Management
allow housing.
Area
This parcel contains a restaurant
445 122 17
Pacific Club
PC
MU-H2
No
0
1.95
1.95
Yes
0
50
97
97
29
10
58
overlooking a pond and is identified as a
Airport
58
site for potential housing.
Area
This parcel is occupied by a "Carl's Jr." This
Nf Von
parcel appears to be more underutilized
Airport
445 12109
Karman LLC
PC
CG
No
0
1.00
1.00
Yes
0
50
49
49
15
5
29
than parcel 36, and these parcels could be
Area
59
combinable.
This parcel is a viable commercial
M4
development that front Bristol and the 73
Airport
44512219
Macarthur
PC
MU-H2
No
0
0.51
0.51
Yes
0
50
25
25
8
3
14
freeway and is identified as a site for
Area
60
LLC
potential housing.
This parcel contains a parking lot and
Airport
427 121 27
Birch
OA
AO
No
0
1.41
1.41
Yes
0
50
70
70
21
7
42
61
identified as a site for potential housing.
Area
This parcel is a small banking building,
regular in shape and could potentially
Bank First
Airport
427 173 01
PC
MU-H2
No
0
1.00
1.00
Yes
0
50
49
49
15
5
29
stand on its own as housing. Consolidating
62
And Inc
Area
this parcel would make for a more
developable scale.
This parcel contains office space a hotel
Bsp Bristol
Airport
427 332 02
PC
CO-G
No
0
2.38
2.38
Yes
0
50
118
118
35
12
71
and is identified as a site for potential
63
LLC
housing.
Area
Newport
The current owner of the property has
427 332 04
Place
PC
CO-G
No
0
1.70
1.70
Yes
0
50
85
85
26
9
50
expressed to City staff written interest to
Y
Airport
64
Investment
allow housing.
Area
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-33
City of Newport Beach
Table B-12: Airport Area Sites Inventory
Density (Du/Ac)
Assumed Net Unit
Existing
Potential
Yield
Parcel
Existing
General
5th
Existing
Gross
Buildable
HCD
Rezoned
Assumed
Existing Use and Explanation of
Letter
Focus
Inventory/
Number
Owner
Zoning
Plan
Vacancy
Cycle
Units
Acreage
Acreage
Sizing
Existing
Rezoned
Unit
Net Yield
Low/
Propensity
Interest
Area
Map ID
Land Use
7
Site.
7
Criteria.
Zone
Density
Yield
Very
Mod
Above
7
Density
(Assumed)
Low
Mod
This parcel is an improved parking lot that
could be a potential location for infill
427 332 03
Crown
PC
CO-G
No
0
1.41
1.41
Yes
0
50
70
70
21
7
42
housing. If suitable, the owner of this
Airport
65
Building
parcel should be advised that the addition
Area
of housing might be possible.
This parcel was formerly a part of the "Koll
Residences" and are contemplated as
potential "infill housing' (not
"replacement housing") located on
surface parking lots under the Airport area
Ndh America
Airport
427 221 14
PC
MU-H2
No
0
1.50
1.50
Yes
0
50
75
75
23
8
44
provisions of the 2006 General Plan. An
66
Inc
application has been filed with the City by
Area
Picerne for a new design of a residential
project and this should be sufficient
evidence of the desire of the owner to use
the property for housing.
This parcel contains office space for real
Macarthur
Airport
427 181 01
PC
MU-H2
No
0
1.45
1.45
Yes
0
50
72
72
22
7
43
estate developers and identified as a site
67
Pacific Plaza
Area
for potential housing.
Newport
The current owner of the property has
427 241 13
Plaza Office
PC
CG
No
0
3.95
3.95
Yes
0
50
197
197
59
20
118
expressed to City staff written interest to
Y
Airport
68
LLC
allow housing.
Area
This parcel has a functioning office
1200 Quail St
Airport
427 221 13
PC
MU-H2
No
0
1.00
1.00
Yes
0
50
49
49
15
5
29
building but could be a location for
69
LLC
housing.
Area
This parcel contains office space for a
Elite West
Airport
427 174 04
PC
MU-H2
No
0
6.32
6.32
Yes
0
50
315
315
95
32
188
manufacturing company and is identified
70
LLC
as a site for potential housing.
Area
This parcel is currently under construction
427 22101
Nf Dove LLC
PC
MU-H2
No
0
3.99
3.99
Yes
0
50
199
199
60
20
119
as a multi -story high rise apartment
Y
Airport
71
complex.
Area
Gurcharan
The current owner of the property has
427 181 08
Singh
PC
MU-H2
No
0
0.72
0.72
Yes
0
50
35
35
11
4
20
expressed to City staff written interest to
Y
Airport
72
Sandher
allow housing.
Area
The current owner of the property has
427 222 05
Malaguena
PC
MU-H2
No
0
0.90
0.90
Yes
0
50
45
45
14
5
26
expressed to City staff written interest to
Y
Airport
73
allow housing.
Area
Pmc
The current owner of the property has
427 222 06
Macarthur
PC
MU-H2
No
0
1.56
1.56
Yes
0
50
77
77
23
8
46
expressed to City staff written interest to
Y
Airport
74
LLC
allow housing.
Area
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-34
City of Newport Beach
Table B-12: Airport Area Sites Inventory
Density (Du/Ac)
Assumed Net Unit
Existing
Potential
Yield
Parcel
Existing
General
5th
Existing
Gross
Buildable
HCD
Rezoned
Assumed
Existing Use and Explanation of
Letter
Focus
Inventory/
Number
Owner
Zoning
Plan
Vacancy
Cycle
Units
Acreage
Acreage
Sizing
Existing
Rezoned
Unit
Net Yield
Low/
Propensity
Interest
Area
Map ID
Land Use
7
Site.
7
Criteria.
Zone
Density
Yield
Very
Mod
Above
7
Density
(Assumed)
Low
Mod
Sbs Dove
This parcel contains office space for an
427 221 10
Street
PC
MU-H2
No
0
1.71
1.71
Yes
0
50
85
85
26
9
50
architectural firm and is identified as a site
Airport
75
Partners
for potential housing.
Area
Hankey
This parcel contains office space for a
427 221 11
Investment
PC
MU-H2
No
0
1.52
1.52
Yes
0
50
76
76
23
8
45
manufacturing company and is identified
Airport
76
Company
as a site for potential housing.
Area
This parcel has a two -level parking
structure for a multi -story office structure
Dove Owner
that could be re -worked to add housing.
Airport
427 22106
Ag
PC
MU-H2
No
0
3.59
3.59
Yes
0
50
179
179
54
18
107
The owner of this parcel should be
Area
77
advised that the addition of housing might
be possible.
J Ray
The current owner of the property has
427 174 06
Macarthur
PC
MU-H2
No
0
0.94
0.94
Yes
0
50
47
47
14
5
28
expressed to City staff written interest to
Y
Airport
78
Sanderson
allow housing.
Area
This parcel shares a parking lot with parcel
72. The two buildings on this parcel are
newer, vintage commercial buildings, and
Ridgeway
due to the existing use, identified as a
Airport
427 18107
Real Estate
PC
MU-H2
No
0
1.10
1.10
Yes
0
50
55
55
17
6
32
potential source for housing development.
Y
Area
79
The current owner of the property has
expressed to City staff written interest to
allow housing.
This parcel is a commercial retail building
Gs 1600 Dove
operated by national food and beverage
Airport
427 18103
LLC
PC
MU-H2
No
0
2.49
2.49
Yes
0
50
124
124
37
12
75
companies and likely to be housing sites if
Area
80
combined with neighboring sites.
This parcel is an oddly shaped parcel that
would not be able to efficiently be
Feb Dove
planned as separate housing projects. The
Airport81
427 22109
Street
PC
MU-H2
No
0
1.51
1.51
Yes
0
50
75
75
23
8
44
City will work with the owner to
Area
Partners
encourage housing development with
adjacent parcels nearby.
The current owner of the property has
427 22102
Westerly Ow-
PC
CO-G
No
0
1.46
1.46
Yes
0
50
72
72
22
7
43
expressed to City staff written interest to
Y
Airport
82
Aberdeen
Area
allow housing.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-3S
City of Newport Beach
Table B-12: Airport Area Sites Inventory
Density (Du/Ac)
Assumed Net Unit
Existing
Potential
Yield
Parcel
Existing
General
5th
Existing
Gross
Buildable
HCD
Rezoned
Assumed
Existing Use and Explanation of
Letter
Focus
Inventory/
Number
Owner
Zoning
Plan
Vacancy
Cycle
Units
Acreage
Acreage
Sizing
Existing
Rezoned
Unit
Net Yield
Low/
Propensity
Interest
Area
Map ID
Land Use
7
Site.
7
Criteria.
Zone
Density
Yield
Very
Mod
Above
7
Density
(Assumed)
Low
Mod
J Ray
The current owner of the property has
427 174 05
Macarthur
PC
MU-H2
No
0
1.50
1.50
Yes
0
50
75
75
23
8
44
expressed to City staff written interest to
Y
Airport
83
Sanderson
allow housing.
Area
This parcel is a parking lot and large
enough for a sizable, standalone project. If
combined with parcel 85, there would be
Jones
enough land for a good-sized project. The
Airport
42734202
Fletcher Jr.
PC
MU-H2
No
0
3.70
3.70
Yes
0
50
184
184
55
18
111
property owner will be advised that the
Area
84
use of housing of Parcel 84 alone or in
combination with 85 would be possible,
both as very feasible housing projects.
The current owner of the property has
Hilbert
Airport
427 342 01
PC
MU-H2
No
0
1.97
1.97
Yes
0
50
98
98
29
10
59
expressed to City staff written interest to
Y
85
Properties II
allow housing.
Area
The current owner of the property has
427 221 16
1500 Quail
PC
CO-G
No
0
4.76
4.76
Yes
0
50
238
238
71
24
143
expressed to City staff written interest to
Y
Airport
86
Property LLC
allow housing.
Area
This parcel is a community recreation
Men's
center with a large parking lot and several
439 40101
Christian
PF
PF
No
0
4.03
4.03
Yes
0
50
201
201
60
20
121
grass fields which present the opportunity
Y
Airport
87
Young
for additional housing development on
Area
the site.
Hankey
This parcel has a functioning office
427 22107
Investment
PC
MU-H2
No
0
1.75
1.75
Yes
0
50
87
87
26
9
52
building but could be a location for
Airport
88
Company
housing.
Area
Davenport
The current owner of the property has
427 221 15
Quail
PC
MU-H2
No
0
1.47
1.47
Yes
0
50
73
73
22
7
44
expressed to City staff written interest to
Y
Airport
89
Partners
allow housing.
Area
The current owner of the property has
Sa Abanoub
Airport
427 141 14
PC
CO-G
No
0
0.64
0.64
Yes
0
50
31
31
9
3
19
expressed to City staff written interest to
Y
90
LLC
allow housing.
Area
This parcel contains space for cosmetic
Jrj
services an education center, and
Airport
936 790 44
Investments
PC
CO-G
No
0
0.97
0.97
Yes
0
50
48
48
14
5
29
stockbrokers that are identifies as sites for
Area
91
LP
potential housing.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-36
City of Newport Beach
Table B-12: Airport Area Sites Inventory
Density (Du/Ac)
Assumed Net Unit
Existing
Potential
Yield
Parcel
Existing
General
5th
Existing
Gross
Buildable
HCD
Rezoned
Assumed
Existing Use and Explanation of
Letter
Focus
Inventory/
Number
Owner
Zoning
Plan
Vacancy
Cycle
Units
Acreage
Acreage
Sizing
Existing
Rezoned
Unit
Net Yield
Low/
Propensity
Interest
Area
Map ID
Land Use
7
Site.
7
Criteria.
Zone
Density
Yield
Very
Mod
Above
7
Density
(Assumed)
Low
Mod
The current owner of the property has
936 790 50
Sa Abanoub
PC
CO-G
No
0
0.86
0.86
Yes
0
50
42
42
13
4
25
expressed to City staff written interest to
Y
Airport
92
LLC
allow housing.
Area
The current owner of the property has
Sa Abanoub
Airport
427 141 04
PC
CO-G
No
0
0.52
0.52
Yes
0
50
26
26
8
3
15
expressed to City staff written interest to
Y
93
LLC
allow housing.
Area
The current owner of the property has
Sa Abanoub
Airport
427 141 11
PC
CO-G
No
0
0.52
0.52
Yes
0
50
26
26
8
3
15
expressed to City staff written interest to
Y
94
LLC
allow housing.
Area
The current owner of the property has
Sa Abanoub
Airport
936 790 48
PC
CO-G
No
0
0.72
0.72
Yes
0
50
36
36
11
4
21
expressed to City staff written interest to
Y
95
LLC
allow housing.
Area
The current owner of the property has
427 14107
Sa Abanoub
PC
CO-G
No
0
0.58
0.58
Yes
0
50
29
29
9
3
17
expressed to City staff written interest to
Y
Airport
96
LLC
allow housing.
Area
The current owner of the property has
Sa Abanoub
Airport
427 14108
PC
CO-G
No
0
0.51
0.51
Yes
0
50
25
25
8
3
14
expressed to City staff written interest to
Y
97
LLC
allow housing.
Area
The current owner of the property has
427 141 16
Sa Abanoub
PC
CO-G
No
0
8.61
8.61
Yes
0
50
430
430
129
43
258
expressed to City staff written interest to
Y
Airport
98
LLC
allow housing.
Area
Uptown
This parcel is currently under construction
445 134 22
Newport
PC
MU-H2
No
0
0.67
0.67
Yes
0
50
33
33
10
3
20
as a multi -story high rise apartment
Airport
100
Jamboree LLC
complex.
Area
This parcel is a part of the "Koll Office
Condos" (SEC Campus and Von Karman).
445 141 11
Ncp GI
PC
MU-H2
No
0
0.29
0.29
N/A
0
50
14
14
4
1
9
Due to the existing use of the parcel, it is
Airport
103
Owner LLC
identified as a possible site of housing
Area
development.
This parcel is a part of the "Koll Office
Condos" (SEC Campus and Von Karman).
445 141 12
Lyon Housing
PC
MU-H2
No
0
0.48
0.48
N/A
0
50
23
23
7
2
14
Due to the existing use of the parcel, it is
Airport
104
LLC
identified as a possible site of housing
Area
development.
The current owner of the property has
445 141 13
Ncp GI
PC
MU-H2
No
0
0.29
0.29
N/A
0
50
14
14
4
1
9
staff
expressed to City stawritten interest to
Y
Airport
105
Owner LLC
allow housing.
Area
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-37
City of Newport Beach
2021 � "' f7
Table B-12: Airport Area Sites Inventory
Density (Du/Ac)
Assumed Net Unit
Existing
Potential
Yield
Parcel
Existing
General
5th
Existing
Gross
Buildable
HCD
Rezoned
Assumed
Existing Use and Explanation of
Letter
Focus
Inventory/
Number
Owner
Zoning
Plan
Vacancy
Cycle
Units
Acreage
Acreage
Sizing
Existing
Rezoned
Unit
Net Yield
Low/
Propensity
Interest
Area
Map ID
Land Use
7
Site.
7
Criteria.
Zone
Density
Yield
Very
Mod
Above
7
Density
(Assumed)
Low
Mod
Although this parcel is bisected by the
65dB line, City policy regarding noise
Global
dampening eliminates this impediment to
Airport106
427 171 02
Alliance
PC
CG
No
0
1.20
1.20
Yes
0
50
59
59
18
6
35
development. Additionally, the presence
Area
Caesar
of an auto -detailing shop presents the
opportunity to develop housing.
This parcel is not developed and identified
Westerly Ow-
as a site for potential housing. It is
Airport
42722103
Aberdeen
PC
COG
No
0
1.46
1.46
Yes
0
50
73
73
22
7
44
bordered by a manufacturing office and
Y
Area
107
multi -story apartment complex.
Although this parcel is bisected by the
65dB line, City policy regarding noise
Beni
dampening eliminates this impediment to
Airport
42717103
Investments
PC
CG
No
0
1.40
1.40
Yes
0
50
69
69
21
7
41
development. Additionally, the presence
Area
108
LLC
of an auto -detailing shop presents the
opportunity to develop housing.
Although this parcel is bisected by the
65dB line, City policy regarding noise
dampening eliminates this impediment to
936 790 46
Orange
PC
CO-G
No
0
0.97
0.97
Yes
0
50
48
48
14
5
29
development. Additionally, the presence
Airport
109
County Bar
of undeveloped building pads at the site
Area
presents the opportunity to develop
housing.
The current owner of the property has
427 221 17
0
PC
MU-H2
No
0
6.46
6.46
Yes
0
50
322
322
97
32
193
expressed to City staff written interest to
Y
Airport
335
allow housing.
Area
The current owner of the property has
445 141 31
0
PC
MU-H2
No
0
0.40
0.40
N/A
0
50
20
20
6
2
12
expressed to City staff written interest to
Y
Airport
338
allow housing.
Area
Gurcharan
The current owner of the property has
427 18109
Singh
PC
MU-H2
No
0
0.72
0.72
Yes
0
50
35
35
11
4
20
expressed to City staff written interest to
Y
Airport
343
Sandher
allow housing.
Area
The current owner of the property has
Sa Abanoub
Airport
427 141 13
PC
CO-G
No
0
0.37
0.37
No
0
50
19
19
6
2
11
expressed to City staff written interest to
Y
344
LLC
allow housing.
Area
The current owner of the property has
427 13109
DMP
OA
AO
No
0
4.19
4.19
Yes
0
50
209
209
63
21
125
expressed to City staff written interest to
Y
Airport
356
Properties
allow housing.
Area
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-38
City of Newport Beach
Table B-12: Airport Area Sites Inventory
Density (Du/Ac)
Assumed Net Unit
Existing
Potential
Yield
Parcel
Existing
General
5th
Existing
Gross
Buildable
HCD
Rezoned
Assumed
Existing Use and Explanation of
Letter
Focus
Inventory/
Number
Owner
Zoning
Plan
Vacancy
Cycle
Units
Acreage
Acreage
Sizing
Existing
Rezoned
Unit
Net Yield
Low/
Propensity
Interest
Area
Map ID
Land Use
7
Site.
7
Criteria.
Zone
Density
Yield
Very
Mod
Above
7
Density
(Assumed)
Low
Mod
The current owner of the property has
442 282 02
CHC Bayview
No
0
5.23
2.0
Yes
0
50
100
100
30
10
60
expressed to City staff written interest to
Y
Airport
357
Holdings, Inc
Area
allow housing.
The current owner of the property has
Bristol
expressed to City staff written interest to
Airport
439 021 13
Zenith, LLC
No
0
0.31
0.31
No
0
50
8
8
2
1
5
allow housing. Consolidated onto Map ID
Y
Area
358
Sites 358, 359, 360
The current owner of the property has
Bristol
expressed to City staff written interest to
Airport
43902112
Zenith, LLC
No
0
0.17
0.17
No
0
50
8
8
2
1
5
allow housing. Consolidated onto Map ID
Y
Area
359
Sites 358, 359, 360
The current owner of the property has
Bristol
expressed to City staff written interest to
Airport
439 02103
Zenith, LLC
No
0
0.16
0.16
No
0
50
16
16
5
2
9
allow housing. Consolidated onto Map ID
Y
Area
360
Sites 358, 359, 360
The property is adjacent to another with
property owner interest. Consolidation of
439 352 21
David Chen
No
1
0.44
0.44
No
0
50
21
21
6
2
13
Map ID 363, 364, 365, 366, and 367 is a
Airport
363
possibility and would be encouraged by
Area
current policy.
The property is adjacent to another with
Estate of
property owner interest. Consolidation of
439 34101
Edward J
No
0
0.87
0.87
Yes
0
50
43
43
13
4
26
Map ID 363, 364, 365, 366, and 367 is a
Airport
364
Kisner
possibility and would be encouraged by
Area
current policy.
The current owner of the property has
Charles F
Airport
439 352 17
No
4
0.37
0.37
No
0
50
18
18
5
2
11
expressed to City staff written interest to
Y
365
Moothard
Area
allow housing.
The current owner of the property has
439 352 20
Charles F
No
1
0.44
0.44
No
0
50
21
21
6
2
13
expressed to City staff written interest to
Y
Airport
366
Moothard
Area
allow housing.
The property is adjacent to another with
property owner interest. Consolidation of
439 352 22
Jackson
No
1
0.21
0.21
No
0
50
10
10
3
1
6
Map ID 363, 364, 365, 366, and 367 is a
Airport
367
Schuyler
possibility and would be encouraged by
Area
current policy.
Airport Area Total Acreage Development Potential
8,272 units
The city is aware of a development
Pipeline
427 111 03
Ap Center
PF
PF
No
0
0.73
0.73
Yes
0
0
346
17
0
329
proposal on this site.
Project
260
The city is aware of a development
Pipeline
427 11109
Corp Jrsm
PF
PF
No
0
3.19
3.19
Yes
0
0
28
0
0
28
proposal on this site.
Project
250
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-39
City of Newport Beach
Table B-12: Airport Area Sites Inventory
:- �.• :dW _
Density (Du/Ac)
Assumed Net Unit
Existing
Potential
Yield
Parcel
Existing
General
5th
Existing
Gross
Buildable
HCD
Rezoned
Assumed
Existing Use and Explanation of
Letter
Focus
Inventory/
Owner
Vacancy
Cycle
Sizing
Interest
Number
Zoning
Plan
7
Site.
Units
Acreage
Acreage
7
Criteria.
Existing
Rezoned
Unit
Net Yield
Low/
Propensity
7
Area
Map ID
Land Use
Zone
Density
Yield
Very
Mod
Above
Mod
Density
(Assumed)
Low
Macarthur
The city is aware of a development
Pipeline
427 172 02
Starboard
PF
PF
No
0
1.83
1.83
Yes
0
0
117
26
0
91
proposal on this site.
Project
266
Macarthur
The city is aware of a development
Pipeline
427 172 06
Starboard
PF
PF
No
0
1.71
1.71
N/A
0
0
117
26
0
91
proposal on this site.
Project
252
Macarthur
The city is aware of a development
Pipeline
427 172 03
Starboard
PF
PF
No
0
1.94
1.94
Yes
0
0
117
26
0
91
proposal on this site.
Project
267
44513129
Slf-Kc Towers
PF
PF
No
0
6.22
6.22
N/A
0
0
325
13
0
312
The city is aware of a development
Pipeline
249
LLC
proposal on this site.
Project
Newport
The city is aware of a development
Pipeline
445 133 07
Jamboree
PF
PF
No
0
12.57
12.57
N/A
0
0
66
0
0
66
Y
253
proposal on this site.
Project
Uptown
Tsg-Parcel
The city is aware of a development
Pipeline
445 134 17
LLC
PF
PF
No
0
2.58
2.58
Yes
0
0
0
30
0
0
30
proposal on this site.
Project
99
Airport Area Pipeline Project Total:
1,146 units
*Please Note — these net unit totals have been manually manipulated to accurately reflect development interest
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-40
City of Newport Beach
2021-2029 HOUSING ELEMENT
West Newport Mesa Area
West Newport Mesa has been identified by the City as a reinvestment and redevelopment opportunity,
where older industrial, smaller -scale development can transition to support future residential
development. In 2017, the West Newport Mesa Area gained 81 detached condominiums in addition to 73
mobile home spaces through the development of the Ebb Tide Project. The development area achieved a
density of approximately 17 du/acre. The adjacent Hoag hospital and supportive medical -related activities
further support the opportunity to provide housing for local workers of various income levels and
encourage multi -family living spaces in the area adjacent to the Hospital. Of the 55 acres of land deemed
suitable for residential development in the West Newport Mesa Area, 47 acres met the criteria required
by AB 1397 for sites projected to accommodate Low and Very Low -Income units. Although the parcels
within the Sites Inventory have the capacity to accommodate approximately 2,000 units of development
(at an assumed unit yield of 50 du/ac), an assumption of approximately 47% redevelopment has been
applied considering development history, economic factors, and AFFH requirements. The assumed
buildout is therefore projected at 1,107 units, 332 of which are projected to develop affordably.
Table B-12 below displays the capacity and opportunity in this Focus Area which can help accommodate
the City's RHNA allocation. Figure B-4 below maps the sites identified within this Focus Area which can
help accommodate the City's RHNA allocation.
Table B-13: West Newport Mesa Environs - Redevelopment Analvsis
Feasible
Assumed
Net Units
Above
Acreage
Density
Low Very Low
Moderate
Total
Moderate
47 acres
50 du/ac
332 units
111 units
664 units
1,107 units
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-41
City of Newport Beach
2021-2029 HOUSING ELEMENT
Figure B-4: West Newport Mesa Area — Sites Inventory
Site Inventory:
West Newport Mesa Area
LEGEND
City Boundary
® 5th Cycle Sites
Pipeline Projects
Opportunity Sites
Key Map
It wine
- mmmmmff==== Feet
NORTH 0 50D 1,0170
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-42
Ciryrytyy of Newport Beach
20-202—
iVk
Table B-14: West Newport Mesa Sites Inventory
Existing
Density (Du/Ac)
Assumed Net Unit
HCD
Potential
Yield
Parcel
Existing
General
5th
Existing
Gross
Buildable
Sizing
Rezoned
Assumed
Existing Use and Explanation of
Letter
Inventory/
Number
Owner
Zoning
Plan
Vacancy
Cycle
Units
Acreage
Acreage
Criteria
Existing
Rezoned
Unit
Net Yield
Low/
Above
Propensity
Interes
Focus Area
Map ID
Land
Site?
?
Zone
Density
Yield
Very
Mod
Mod
t?
Use
Density
(Assumed)
Low
This parcel contains office buildings
School
and available parking spaces. The
Costa
site is borders residential housing
West
114 170 51
Mesa
PF
PF
No
0
11.56
10
No
0
50
578
578
173
58
347
to the southwest and can be
Newport
215
Union
converted to housing
Mesa Area
redevelopment.
The current owner of the property
West
424 141 17
Taormina
IG
IG
No
0
0.23
0.23
No
0
50
11
11
3
1
7
has expressed to City staff written
Y
Newport
216
Property
interest to allow housing.
Mesa Area
The current owner of the property
West
424 141 17
Taormina
IG
IG
No
0
0.23
0.23
No
0
50
11
11
3
1
7
has expressed to City staff written
Y
Newport
216
Property
interest to allow housing.
Mesa Area
The current owner of the property
West
Chi Ltd
892 080 02
RM
RM
No
61
4.34
4.34
Yes
13
50
155
94
28
9
57
has expressed to City staff written
Y
Newport
218
Ptnrship
interest to allow housing.
Mesa Area
The current owner of the property
West
Chi
424 15101
RM
RM
No
56
4.77
4.77
Yes
14
50
182
126
38
13
75
has expressed to City staff written
Y
Newport
219
Limited
interest to allow housing.
Mesa Area
This parcel is a portion of a mobile
home park and has been identified
as an opportunity for higher-
West
892 090 55
Brian
RM
RM
No
56
4.27
4.27
Yes
13
50
157
101
30
10
61
density housing. The current owner
Newport
220
Bellerose
of the property has expressed to
Mesa Area
City staff written interest to
develop housing.
This parcel is a portion of a mobile
Charlotte
home park and has been identified
West
892 109 03
Patronite
RM
RM
No
36
1.90
1.90
Yes
13
50
59
23
7
2
14
as an opportunity for higher -
Newport
221
density housing.
Mesa Area
This parcel is City -owned property
City Of
West
and a portion of this site has been
114 170 82
Newport
PF
PF
No
0
3.05
0.92
Yes
0
50
45
45
14
5
26
identified as an opportunity site for
Newport
222
Beach
Mesa Area
higher -density housing.
This parcel is City -owned property
City Of
and a portion of this site has been
West
424 401 12
Newport
PF
PF
No
0
2.00
0.60
Yes
0
50
29
29
9
3
17
identified as an opportunity site for
Newport
223
Beach
Mesa Area
higher -density housing.
This parcel is City -owned property
City Of
and has been identified as an
West
425 171 01
Newport
PF
PF
No
0
7.95
2.38
Yes
0
50
119
119
36
12
71
opportunity site for higher -density
Newport
224
Beach
housing. The City will consolidate
Mesa Area
and move current existing uses.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-43
Ciryrytyy of Newport Beach
20-202—
Table B-14: West Newport Mesa Sites Inventory
Existing
DensityDu Ac
(/)
Assumed Net Unit
HCD
Potential
Yield
Parcel
Existing
General
5th
Existing
Gross
Buildable
Sizing
Rezoned
Assumed
Existing Use and Explanation of
Letter
Inventory/
Number
Owner
Zoning
Plan
Vacancy
Cycle
Units
Acreage
Acreage
Criteria
Existing
Rezoned
Unit
Net Yield
Low/
Above
Propensity
Interes
Focus Area
Map ID
Land
Site?
Zone
Density
Very
Mod
t?
?
Yield
Mod
Use
Density
(Assumed)
Low
This parcel contains middle aged
industrial buildings. Redevelopment
Michael
of this site to accommodate
West
424 11105
Voorhees
IG
IG
No
0
0.55
0.55
Yes
0
50
27
27
8
3
16
housing is feasible as an individual
Newport
225
parcel or in combination with
Mesa Area
neighboring sites.
This parcel contains middle aged,
tilt up, construction, industrial
West
Scab Wrks
424 14106
IG
IG
No
0
0.52
0.52
Yes
0
50
25
25
8
3
14
buildings that are feasible for
Newport
226
LLC
housing redevelopment with zoning
Mesa Area
overlay.
Trico
The current owner of the property
West
424 11106
Newport
IG
IG
No
0
3.23
3.23
Yes
0
50
161
161
48
16
97
has expressed to City staff written
Y
Newport
227
Properties
interest to allow housing.
Mesa Area
This parcel contains middle aged
industrial buildings. Redevelopment
Howland
West
of this site to accommodate
424 40104
Associates
IG
IG
No
0
1.86
0.56
Yes
0
50
27
27
8
3
16
housing is feasible as an individual
Newport
228
LLC
parcel or in combination with
Mesa Area
neighboring sites.
This parcel contains older industrial
buildings including an auto shop
and large parking lot.
Redevelopment of this site to
accommodate housing is feasible as
West
Richard
424 14101
IG
IG
No
0
2.73
2.73
Yes
0
50
136
136
41
14
81
an individual parcel or in
Newport
229
Hunsaker
combination with neighboring sites.
Mesa Area
The City will work with relevant
property owners to explore lot
consolidation and housing
development opportunities.
This parcel contains middle aged,
tilt up, construction, industrial
West
424 142 14
Lois For
IG
IG
No
0
0.74
0.74
Yes
0
50
37
37
11
4
22
buildings that feasible for housing
Newport
230
Horness
redevelopment with zoning
Mesa Area
overlay.
This parcel contains middle aged,
Orangeth
tilt up, construction, industrial
West
424 141 04
orpe
IG
IG
No
0
0.69
0.69
Yes
0
50
34
34
10
3
21
buildings that feasible for housing
Newport
231
Properties
redevelopment with zoning
Mesa Area
overlay.
Brent &
This parcel contains middle aged,
West
424 141 05
Ami
IG
IG
No
0
0.53
0.53
Yes
0
50
26
26
8
3
15
tilt up, construction, industrial
Newport
232
Ducoing
buildings that feasible for housing
Mesa Area
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-44
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-14: West Newport Mesa Sites Inventory
Existing
DensityDu Ac
(/)
Assumed Net Unit
HCD
Potential
Yield
Parcel
Existing
General
5th
Existing
Gross
Buildable
Sizing
Rezoned
Assumed
Existing Use and Explanation of
Letter
Inventory/
Owner
Plan
Vacancy
Cycle
Existing
Rezoned
Low/
Interes
Focus Area
Number
Zoning
Units
Acreage
Acreage
Criteria
Unit
Net Yield
Above
Propensity
Map ID
Land
Site?
Zone
Density
Very
Mod
t?
7
Yield
Mod
Use
Density
(Assumed)
Low
redevelopment with zoning
overlay.
This parcel contains automotive
shops and parking that present the
Riverport
opportunity to be redeveloped into
West
424 131 16
Properties
OM
CO-M
No
0
1.07
1.07
Yes
0
50
53
53
16
5
32
housing. The parcel owner should
Newport
233
LLC
be notified of the land use change
Mesa Area
to accommodate for potential
housing.
This parcel contains middle aged,
James
tilt up, industrial buildings that
West
424 14103
DeGraw
IG
IG
No
0
1.08
1.08
Yes
0
50
54
54
16
5
33
feasible for housing redevelopment
Newport
234
with zoning overlay.
Mesa Area
This parcel contains middle aged,
Metal
West
tilt up, industrial buildings that are
424 142 11
Finishing
IG
IG
No
0
1.31
1.31
Yes
0
50
65
65
20
7
38
Newport
235
feasible for housing
Hixson
redevelopment.
Mesa Area
This parcel contains middle aged,
Newport
tilt up, industrial buildings that are
West
424 40106
Business
IG
IG
No
0
1.14
1.14
Yes
0
50
56
56
17
6
33
feasible for housing
Newport
236
Center
redevelopment.
Mesa Area
This parcel contains middle aged
industrial buildings. Redevelopment
Richard
of this site to accommodate
West
424 14102
Hunsaker
IG
IG
No
0
1.61
1.61
Yes
0
50
80
80
24
8
48
housing is feasible as an individual
Newport
237
parcel or in combination with
Mesa Area
neighboring sites.
This parcel contains middle aged,
Allred
West
tilt up, industrial buildings that are
424 40108
Newport
IG
IG
No
0
0.76
0.76
Yes
0
50
38
38
11
4
23
feasible for housing
Newport
238
LLC
redevelopment.
Mesa Area
This parcel contains middle aged,
Glynn Van
tilt up, industrial buildings adjacent
West
424 14109
De Walker
IG
IG
No
0
0.56
0.56
Yes
0
50
28
28
8
3
17
to existing housing that are feasible
Newport
239
for housing redevelopment.
Mesa Area
The current owner of the property
West
424 141 10
0
IG
IG
No
0
0.37
0.37
No
0
50
16
16
5
2
9
has expressed to City staff written
Y
Newport
342
interest to allow housing.
Mesa Area
West Newport Mesa Total Acreage Development Potential:
2,000 units
*Please Note — these net unit totals have been manually manipulated to accurately reflect development interest
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-45
City of Newport Beach
2021-2029 HOUSING ELEMENT
Dover-Westcliff Area
Dover-Westcliff has been identified as an area with opportunity to support increased density that is
compatible with adjacent higher density residential uses and other uses that will support residential
development. In 2019, the Dover-Westcliff Area gained 23 townhouse style multi -family homes through
the completion of the Lidos Villas Project. The development area achieved a density of approximately 19
du/acre. This project demonstrates the ability to develop multi -family housing in this desirable part of the
City.
In addition to the Lidos Villas Project, there is interest to continue developing multi -family housing. As of
November 2021, there is one approved and one pending project within the Dover-Westcliff Area. These
projects would construct higher density housing for the area. Table B-15 is a summarized version of
Attachments 1 through 3. For more detailed information, please visit the Attachments.
Table B-15: Dover-Westcliff Area Pipeline Projects Summarized
Project
Density
Evidence for Future
Development
Approved Projects
West Coast Highway Mixed -Use
36 du/acre (26.7 du/acre
The Project consolidates
excluding the density bonus)
multiple smaller lots into one
large development site. The
Project demonstrates that
nonvacant sites are viable for
redevelopment into high -
density residential and mixed -
use developments.
Pending Projects
Newport Village Mixed -Use
20 du/acre
The Project site currently has
older office buildings and
associated parking lots. The
Project would demonstrate that
nonvacant sites can be viable for
redevelopment into higher
density residential and mixed -
use developments.
Of the 29 acres of land deemed suitable for residential development in the Dover-Westcliff Area, 18 acres
met the criteria required by AB 1397 for sites projected to accommodate Low and Very Low -Income units.
Although the parcels within the Sites Inventory have the capacity to accommodate approximately 889
units of development (at an assumed unit yield of 50 du/ac), an assumption of approximately 52%
redevelopment has been applied considering development history, economic factors, and AFFH
requirements. The assumed buildout is therefore projected at 458 units, 137 of which are projected to
develop affordably.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-46
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-16 below displays the capacity and opportunity in this Focus Area which can help accommodate
the City's RHNA allocation. Figure B-5 below maps the sites identified within this Focus Area which can
help accommodate the City's RHNA allocation.
Table B-16: Dover-Westcliff Environs - Redevelopment Analysis
Feasible
Assumed
Net Units
Above
Acreage
Density
Low Very Low
Moderate
Total
Moderate
20 acres
50 du/ac
137 units
46 units
275 units
458 units
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-47
City of Newport Beach
2021-2029 HOUSING ELEMENT
`:
Figure B-5: Dover Westcliff Area — Sites Inventory
Site Inventory:
Dover-Westcliff Area
LEGEND
City Boundary
5ttr Cycle Sites
Pipeline Projects
Opportunity sites
Key Map
=' r Rii�c vi
- mmmmmE=== Feet
NORTH 0 500 1,000
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-48
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-17: Dover-Westcliff Sites Inventory
Existing
DensityDu Ac
(/)
Assumed Net Unit
Existin
General
5`"
HCD
Potential
Yield
Letter
Parcel
g
Plan
Vacancy
Cycle
Existing
Gross
Buildable
Sizing
Existing
Rezoned
Rezoned
Assumed
Low/
Existing Use and Explanation of
Interest
Focus
Inventory
Number
Owner
Units
Acreage
Acreage
Criteria
Unit
Net Yield
Above
Propensity
Area
/Map ID
Zoning
Land
Site?
7
Zone
Density
Yield
Very
Mod
Mod
?
Use
Density
(Assumed)
Low
This parcel is an existing
commercial center with some
small restaurants. The current
owner of the property has
expressed to City staff written
Donna
MU-
interest to develop housing and
Dover-
049 122 03
Carpenter
MM
MU-H1
No
Yes
0
0.14
0.14
No
21
50
7
7
2
1
4
the City will work with relevant
Y
Westcliff
132
property owners on the
adjacent parcels to encourage
lot consolidation and provide
viability to accommodate lower
income housing.
This parcel is an existing
commercial center with some
small galleries. The current
owner of the property has
expressed to City staff written
047 04105
Newport
Beach
MU-T
CV/15
MU-H4
No
Yes
0
0.11
0.11
No
18
50
5
5
2
1
2
interest to develop housing and
Y
Dover-
133
Alano Club
ST
the City will work with relevant
Westcliff
property owners on the
adjacent parcels to encourage
lot consolidation and provide
viability to accommodate lower
income housing.
This parcel is an existing
commercial center with some
small galleries and shops. The
current owner of the property
has expressed to City staff
Patrick
MU-
written interest to develop
047 041 25
Chamberlai
CV/15T
MU-H4
No
Yes
0
0.06
0.06
No
15
50
3
3
1
0
2
housing and the City will work
Y
Dover-
134
n
" ST
with relevant property owners
Westcliff
on the adjacent parcels to
encourage lot consolidation and
provide viability to
accommodate lower income
housing.
This parcel is a church on a 2+
acre parcel with a sizeable
Corp Of
parking lot. The owner will be
117 631 12
The
MU
MU-H1
No
0
2.15
2.15
Yes
26
50
107
107
32
11
64
made aware that a portion of
Dover-
135
Presiding
DW
the property could be
Westcliff
designated to accommodate
housing if that would fit in with
the mission of the church.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-49
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-17: Dover-Westcliff Sites Inventory
Existing
DensityDu Ac
(/)
Assumed Net Unit
Existin
General
5`"
HCD
Potential
Yield
Letter
Parcel
Existing
Gross
Buildable
Sizing
Rezoned
Assumed
Existing Use and Explanation of
Focus
Inventory
Number
Owner
g
Plan
Vacancy
Cycle
Units
Acreage
Acreage
Criteria
Existing
Rezoned
Unit
Net Yield
Low/
Above
Propensity
Interest
Area
/Map ID
Zoning
Land
Site?
Zone
Density
Very
Mod
?
7
Yield
Mod
Use
Density
(Assumed)
Low
The current owner of the
Westcliff
Mu
property has expressed to City
Dover-
117 631 22
Properties
DW
MU-H1
No
0
1.67
1.67
Yes
26
50
83
83
25
8
50
staff written interest to allow
Y
Westcliff
136
LLC
housing.
The current owner of the
M Horning
MU-
property has expressed to City
Dover-
117 631 17
Jr.
DW
MU-H1
No
0
1.30
1.30
Yes
26
50
65
65
20
7
38
staff written interest to allow
Y
Westcliff
137
housing.
This parcel is a part of a series of
office buildings, some appearing
more updated than others.
Some of the parcels could
901 Dover
MU
accommodate housing alone, or
Dover-
117 631 18
Ltd
MU-H1
No
0
1.10
1.10
Yes
26
50
55
55
17
6
32
138
DW
in combination with others. The
Westcliff
Partnership
owners of this parcel have
contacted the city in the past
about the potential for housing
uses.
This parcel has a functioning
11763111
Lincoln Yee
MU-H1
No
0
0.87
0.87
Yes
26
50
43
43
13
4
26
medical office project but could
Y
Dover-
139
DW
Westcliff
be a location for housing.
This parcel is a developed
medical facility. The owner of
this parcel will be advised that
Donna
housing development in
117 811 18
Adele
OG
CO-G
No
0
1.51
1.51
Yes
0
50
75
75
23
8
44
combination with site 143 may
Dover-
142
Westcliff
Gallant
be most feasible (as the owner
of 143 has already expressed
written interest in housing
development).
The current owner of the
Russell E R
property has expressed to City
Dover-
117 811 19
Fluter
OG
CO-G
No
0
0.79
0.79
Yes
0
50
39
39
12
4
23
staff written interest to allow
Y
Westcliff
143
housing.
This 1.6-acre parcel is a small
commercial center including
office space and medical office
Carol Rex
space. Although this parcel has
Dover-
049 271 30
Reynolds
OG
CO-G
No
0
1.64
1.64
Yes
0
50
81
81
24
8
49
existing parking lot area, the
Westcliff
144
current use presents the viable
opportunity for full -parcel
redevelopment as housing.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-50
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-17: Dover-Westcliff Sites Inventory
Existing
DensityDu Ac
(/)
Assumed Net Unit
Existin
General
5`"
HCD
Potential
Yield
Letter
Parcel
Existing
Gross
Buildable
Sizing
Rezoned
Assumed
Existing Use and Explanation of
Focus
Inventory
Number
Owner
g
Plan
Vacancy
Cycle
Units
Acreage
Acreage
Criteria
Existing
Rezoned
Unit
Net Yield
Low/
Above
Propensity
Interest
Area
/Map ID
Zoning
Land
Site?
Zone
Density
Very
Mod
?
7
Yield
Mod
Use
Density
(Assumed)
Low
This parcel is a large commercial
center including office space,
restaurants, and shops.
Although this parcel has an
existing parking lot area, the
LIDO
current use presents the viable
Dover-
423 11101
PARTNERS
CG
CG
No
0
4.82
4.82
Yes
0
50
241
128
38
13
77
opportunity for full -parcel
Y
Westcliff
334
redevelopment as housing. The
current owner of the property
has expressed to City staff
written interest to develop
housing.
This parcel is a commercial
development on Jamboree and
Bayside Cove with a large
parking lot and very desirable
050 391 12
Investment
CM
CM
No
0
1.45
1.45
N/A
0
50
38
38
11
4
23
location for housing. The
Y
Dover-
337
s Llc
Westcliff
current owner of the property
has expressed to City staff
written interest to develop
housing.
The current owner of the
DMP
MU-
property has expressed to City
Dover-
117 631 21
Properties
DW
MU-H1
No
0
4.19
0.86
Yes
0
50
43
43
13
4
26
staff written interest to allow
Y
Westcliff
355
housing.
The current owner of the
Palmo
property has expressed to City
Dover-
049 191 30
Investment
RM
RM
NO
0
1.55
1.55
Yes
0
50
117
117
35
12
70
staff written interest to allow
Y
Westcliff ff
361
housing.
Dover-Westcliff Total Acreage Development Potential:
889 units
The city is aware of a
425 06109
Ms 36 Dev
RM-
RM
No
114
5.76
5.76
Yes
92
0
0
-22
0
0
-22
development proposal on this
Pipeline
243
LLC
6000
Project
site.
Bayside
The city is aware of a
440 132 60
Village
PC
MU-W2
No
0
0
4.74
4.74
N/A
0
0
49
0
0
49
development proposal on this
Pipeline
256
Project
Marina
I
I
I
I
Isite.
Nb
The city is aware of a
425 471 27
Mariner's
MU-
MU-H1
No
0
0
4.37
4.37
N/A
26
0
0
198
9
0
189
development proposal on this
Pipeline
246
Mile LLC
MM
site.
Project
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-51
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-17: Dover-Westcliff Sites Inventory
Existing
DensityDu Ac
(/)
Assumed Net Unit
Existin
General
5t"
HCD
Potential
Yield
Letter
Parcel
g
Plan
Vacancy
Cycle
Existing
Gross
Buildable
Sizing
Existing
Rezoned
Rezoned
Assumed
Low/
Existing Use and Explanation of
Interest
Focus
Inventory
Number
Owner
Units
Acreage
Acreage
Criteria
Unit
Net Yield
Above
Propensity
Area
/Map ID
Zoning
Land
Site?
7
Zone
Density
Yield
Very
Mod
Mod
?
Use
Density
(Assumed)
Low
The city is aware of a
425 471 55
Jeffrey
M
MU-H1
No
0
0
0.20
0.20
N/A
24
0
0
35
3
0
32
development proposal on this
Pipeline
242
Shafer
MM
Project
site.
Dover-Westcliff Pipeline Total:
260 units
This site is adjacent to sites
identified by the City during the
5t" Cycle Housing Element
Existing
049 130 18
Quay
MU-
MU-W1
No
Yes
0
1.31
1.31
Yes
5
0
0
7
0
7
Update and is a location suitable
Zoning
15
Works LLC
W1
for housing at the existing
Density
zoning density during this
update.
This site is adjacent to sites
identified by the City during the
Newport
5t" Cycle Housing Element
Existing
049 130 14
Beach
MU
MU-W1
No
Yes
0
1.21
1.21
Yes
5
0
0
7
0
7
Update and is a location suitable
Zoning
16
Waterfront
W1
for housing at the existing
Density
zoning density during this
update.
This site is adjacent to sites
identified by the City during the
51" Cycle Housing Element
Existing
049 121 22
Realty Corp
MU-H1
No
Yes
0
0.43
0.43
No
25
0
0
11
0
11
0
Update and is a location suitable
Zoning
316
MM
for housing at the existing
Density
zoning density during this
update.
This site was identified by the
City during the 51" Cycle Housing
DMP PCH-
MU
Element Update and remains a
Existing
425 471 14
NEWPORT
MM
MU-H1
No
Yes
0
0.12
0.12
No
24
0
0
7
0
7
0
location suitable for housing at
Y
Zoning
276
LLC
the existing zoning density
Density
during this update.
This site was identified by the
City during the 5t" Cycle Housing
DMP PCH-
MU
Element Update and remains a
Existing
425 471 15
NEWPORT
MM
MU-H1
No
Yes
0
0.23
0.23
No
26
0
0
3
0
3
0
location suitable for housing at
Zoning
270
LLC
the existing zoning density
Density
during this update.
This site was identified by the
City during the 51" Cycle Housing
Mariners
MU-
Element Update and remains a
Existing
04915029
Mile LLC
W1
MU-W1
No
Yes
0
1.65
1.65
Yes
5
0
0
9
0
0
9
location suitable for housing at
Zoning
4
the existing zoning density
Density
during this update.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-52
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-17: Dover-Westcliff Sites Inventory
Existing
DensityDu Ac
(/)
Assumed Net Unit
Existin
General
5t"
HCD
Potential
Yield
Letter
Parcel
g
Plan
Vacancy
Cycle
Existing
Gross
Buildable
Sizing
Existing
Rezoned
Rezoned
Assumed
Low/
Existing Use and Explanation of
Interest
Focus
Inventory
Number
Owner
Units
Acreage
Acreage
Criteria
Unit
Net Yield
Above
Propensity
Area
/Map ID
Zoning
Land
Site?
7
Zone
Density
Yield
Very
Mod
Mod
?
Use
Density
(Assumed)
Low
This site is adjacent to sites
identified by the City during the
5t" Cycle Housing Element
Existing
425 471 23
Susan Cuse
MU-
MU-H1
No
Yes
0
0.53
0.53
Yes
26
0
0
14
0
14
0
Update and is a location suitable
Zoning
12
Inc
MM
for housing at the existing
Density
zoning density during this
update.
This site was identified by the
City during the 51" Cycle Housing
Nb
Existing
04915026
Mariner's
MU-
MU-W1
No
Yes
0
2.18
2.18
Yes
5
0
0
1
0
0
1
Element Update and remains a
Zoning
3
W1
location suitable for housing at
Mile LLC
the existing zoning density
Density
during this update.
This site was identified by the
City during the 5t" Cycle Housing
Chino Hills
MU-
Element Update and remains a
Existing
04915016
Mall LLC
W1
MU-W1
No
Yes
0
0.52
0.52
Yes
5
0
0
3
0
0
3
location suitable for housing at
Zoning
7
the existing zoning density
Density
during this update.
This site was identified by the
City during the 51" Cycle Housing
Nb
MU
Element Update and remains a
Existing
049 150 21
Mariner's
W1
MU-W1
No
Yes
0
0.92
0.92
Yes
5
0
0
5
0
0
5
location suitable for housing at
Zoning
6
Mile LLC
the existing zoning density
Density
during this update.
This site is adjacent to sites
identified by the City during the
Mariners
51" Cycle Housing Element
Existing
425 471 26
Mile North
MM
MU-H1
No
Yes
0
0.95
0.95
Yes
26
0
0
25
0
25
0
Update and is a location suitable
Zoning
8
LLC
for housing at the existing
Density
zoning density during this
update.
This site is adjacent to sites
identified by the City during the
5t" Cycle Housing Element
Existing
Sadie Mary
MU-
425 471 24
MU-H1
No
Yes
0
0.54
0.54
Yes
25
0
0
14
0
14
0
Update and is a location suitable
Zoning
13
Stegmann
MM
for housing at the existing
Density
zoning density during this
update.
This site was identified by the
City during the 5t" Cycle Housing
2436pch
MU-
Element Update and remains a
Existing
42547157
LLC
MM
MU H1
No
Yes
0
0.56
0.56
Yes
26
0
0
15
0
15
0
location suitable for housing at
Zoning
11
the existing zoning density
Density
during this update.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-53
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-17: Dover-Westcliff Sites Inventory
Existing
DensityDu Ac
(/)
Assumed Net Unit
Existin
General
5t"
HCD
Potential
Yield
Letter
Parcel
g
Plan
Vacancy
Cycle
Existing
Gross
Buildable
Sizing
Existing
Rezoned
Rezoned
Assumed
Low/
Existing Use and Explanation of
Interest
Focus
Inventory
Number
Owner
Units
Acreage
Acreage
Criteria
Unit
Net Yield
Above
Propensity
Area
/Map ID
Zoning
Land
Site?
7
Zone
Density
Yield
Very
Mod
Mod
?
Use
Density
(Assumed)
Low
This site was identified by the
City during the 5t" Cycle Housing
Shafer
MU-
Element Update and remains a
Existing
42547156
Irrevoc Tr
MM
MU H1
No
Yes
0
0.49
0.49
No
26
0
0
7
0
7
0
location suitable for housing at
Zoning
268
the existing zoning density
Density
during this update.
This site was identified by the
City during the 5t" Cycle Housing
SAMANTH
MU-
Element Update and remains a
Existing
42547119
A LLC
MM
MU H1
No
Yes
0
0.49
0.49
No
26
0
0
13
0
13
0
location suitable for housing at
Zoning
315
the existing zoning density
Density
during this update.
This site was identified by the
City during the 5t" Cycle Housing
DMP PCH-
MU
Element Update and remains a
Existing
425 471 13
NEWPORT
MM
MU-H1
No
Yes
0
0.14
0.14
No
21
0
0
2
0
2
0
location suitable for housing at
Zoning
275
LLC
the existing zoning density
Density
during this update.
This site was identified by the
City during the 51" Cycle Housing
Shafer
MU-
Element Update and remains a
Existing
42547156
Irrevoc Tr
MM
MU H1
No
Yes
0
0.49
0.49
No
26
0
0
7
0
7
0
location suitable for housing at
Zoning
268
the existing zoning density
Density
during this update.
This site was identified by the
City during the 5t" Cycle Housing
Shafer
MU-
Element Update and remains a
Existing
42547156
Irrevoc Tr
MM
MU H1
No
Yes
0
0.49
0.49
No
26
0
0
7
0
7
0
location suitable for housing at
Zoning
268
the existing zoning density
Density
during this update.
This site was identified by the
City during the 5t" Cycle Housing
Shaw
MU-
Element Update and remains a
Existing
42547112
Kathleen A
MM
MU-H1
No
Yes
0
0.16
0.16
No
25
0
0
2
0
2
0
location suitable for housing at
Zoning
272
the existing zoning density
Density
during this update.
Shafer
MU-
The city is aware of a
Pipeline
425 471 55
Family
MU-H1
No
0
0
0.20
0.20
N/A
24
0
0
35
3
0
32
development proposal on this
242
1983 T
MM
site.
Project
This site was identified by the
City during the 5t" Cycle Housing
Investment
MU-
Element Update and remains a
Existing
04912204
s Llc
MM
MU H1
No
Yes
0
0.17
0.17
No
22
0
0
2
0
2
0
location suitable for housing at
Zoning
273
the existing zoning density
Density
during this update.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-54
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-17: Dover-Westcliff Sites Inventory
Existing
DensityDu Ac
(/)
Assumed Net Unit
Existin
General
5t"
HCD
Potential
Yield
Letter
Parcel
g
Plan
Vacancy
Cycle
Existing
Gross
Buildable
Sizing
Existing
Rezoned
Rezoned
Assumed
Low/
Existing Use and Explanation of
Interest
Focus
Inventory
Number
Owner
Units
Acreage
Acreage
Criteria
Unit
Net Yield
Above
Propensity
Area
/Map ID
Zoning
Land
Site?
7
Zone
Density
Yield
Very
Mod
Mod
?
Use
Density
(Assumed)
Low
This site was identified by the
City during the 5t" Cycle Housing
MU-
Element Update and remains a
Existing
04912225
Llc
MM
MU-H1
No
Yes
0
0.09
0.09
No
22
0
0
1
0
1
0
location suitable for housing at
Zoning
277
the existing zoning density
Density
during this update.
This site was identified by the
City during the 5t" Cycle Housing
Humphries
MU-
Element Update and remains a
Existing
42547154
Family Tru
MM
MU H1
No
Yes
0
0.43
0.43
No
25
0
0
11
0
11
0
location suitable for housing at
Zoning
318
the existing zoning density
Density
during this update.
This site was identified by the
City during the 5t" Cycle Housing
WYNN
MU-
Element Update and remains a
Existing
04912206
JERRY TR
MM
MU-H1
No
Yes
0
0.17
0.17
No
24
0
0
4
0
4
0
location suitable for housing at
Zoning
320
the existing zoning density
Density
during this update.
This site is adjacent to sites
identified by the City during the
THE YU TER
51" Cycle Housing Element
Existing
049 110 25
MU-H1
No
Yes
0
0.33
0.33
No
24
0
0
8
0
8
0
Update and is a location suitable
Zoning
319
LIVING
MM
for housing at the existing
Density
TRUST
zoning density during this
update.
This site was identified by the
City during the 51" Cycle Housing
Mariners
MU
Element Update and remains a
Existing
049 110 30
Center M2
MM
MU-H1
No
Yes
0
1.68
1.68
Yes
26
0
0
1
0
1
0
location suitable for housing at
Zoning
1
LLC
the existing zoning density
Density
during this update.
This site was identified by the
City during the 5t" Cycle Housing
2751 &
MU
Element Update and remains a
Existing
049 122 05
2801 PCH
MM
MU-H1
No
Yes
0
0.17
0.17
No
24
0
0
4
0
4
0
location suitable for housing at
Y
Zoning
321
LLC
the existing zoning density
Density
during this update.
This site was identified by the
City during the 51" Cycle Housing
MU-
Element Update and remains a
Existing
04912118
Llc
MM
MU-H1
No
Yes
0
0.42
0.42
No
26
0
0
11
0
11
0
location suitable for housing at
Zoning
317
the existing zoning density
Density
during this update.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-55
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-17: Dover-Westcliff Sites Inventory
Existing
DensityDu Ac
(/)
Assumed Net Unit
Existin
General
5tn
HCD
Potential
Yield
Letter
Parcel
g
Plan
Vacancy
Cycle
Existing
Gross
Buildable
Sizing
Existing
Rezoned
Rezoned
Assumed
Low/
Existing Use and Explanation of
Interest
Focus
Inventory
Number
Owner
Units
Acreage
Acreage
Criteria
Unit
Net Yield
Above
Propensity
Area
/Map ID
Zoning
Land
Site?
7
Zone
Density
Yield
Very
Mod
Mod
?
Use
Density
(Assumed)
Low
This site was identified by the
City during the 5tn Cycle Housing
THE
MU
Element Update and remains a
Existing
049 110 19
GARDEN
MM
MU-H1
No
Yes
0
0.32
0.32
No
24
0
0
5
0
5
0
location suitable for housing at
Zoning
269
M2 LLC
the existing zoning density
Density
during this update.
This site was identified by the
City during the 5t" Cycle Housing
THE
MU
Element Update and remains a
Existing
049 110 21
GARDEN
MM
MU-H1
No
Yes
0
0.25
0.25
No
24
0
0
3
0
3
0
location suitable for housing at
Zoning
271
M2 LLC
the existing zoning density
Density
during this update.
This site was identified by the
City during the 5t" Cycle Housing
CITY OF
MU
Element Update and remains a
Existing
423 12103
NEWPORT
W2
MU-W2
No
Yes
0
0.07
0.07
No
13
0
0
1
0
1
0
location suitable for housing at
Zoning
298
BEACH
the existing zoning density
Density
during this update.
This site was identified by the
City during the 5" Cycle Housing
MU
Element Update and remains a
Existing
423 12105
3 L P
W2
MU-W2
No
Yes
0
0.30
0.30
No
26
0
0
4
0
4
0
location suitable for housing at
Zoning
289
the existing zoning density
Density
during this update.
This site was identified by the
City during the 5t" Cycle Housing
DJM AR
MU-
Element Update and remains a
Existing
423 12106
LIDO LLC
W2
MU-W2
No
Yes
0
0.08
0.08
No
26
0
0
1
0
1
0
location suitable for housing at
Zoning
292
the existing zoning density
Density
during this update.
This site was identified by the
City during the 5t" Cycle Housing
MU-
Element Update and remains a
Existing
42312304
Partnership
W2
MU-W2
No
Yes
0
0.24
0.24
No
25
0
0
6
0
6
0
location suitable for housing at
Zoning
326
the existing zoning density
Density
during this update.
This site was identified by the
City during the 5tn Cycle Housing
DJM AR
MU-
Element Update and remains a
Existing
423 122 11
LIDO LLC
W2
MU-W2
No
Yes
0
0.17
0.17
No
23
0
0
4
0
4
0
location suitable for housing at
Zoning
327
the existing zoning density
Density
during this update.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-56
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-17: Dover-Westcliff Sites Inventory
Existing
DensityDu Ac
(/)
Assumed Net Unit
Existin
General
5t"
HCD
Potential
Yield
Letter
Parcel
g
Plan
Vacancy
Cycle
Existing
Gross
Buildable
Sizing
Existing
Rezoned
Rezoned
Assumed
Low/
Existing Use and Explanation of
Interest
Focus
Inventory
Number
Owner
Units
Acreage
Acreage
Criteria
Unit
Net Yield
Above
Propensity
Area
/Map ID
Zoning
Land
Site?
7
Zone
Density
Yield
Very
Mod
Mod
?
Use
Density
(Assumed)
Low
This site was identified by the
City during the 5t" Cycle Housing
Wypark
MU
Element Update and remains a
Existing
423 123 08
Investment
W2
MU-W2
No
Yes
0
0.59
0.59
Yes
25
0
0
15
0
15
0
location suitable for housing at
Zoning
14
s Pc
the existing zoning density
Density
during this update.
This site was identified by the
City during the 5t" Cycle Housing
Lido Group
MU-
Element Update and remains a
Existing
42312201
Retail LLC
W2
MU-W2
No
Yes
0
1.34
1.34
Yes
26
0
0
5
0
5
0
location suitable for housing at
Zoning
2
the existing zoning density
Density
during this update.
This site was identified by the
City during the 5t" Cycle Housing
BATAVIA
MU
Element Update and remains a
Existing
423 123 10
BUSINESS
W2
MU-W2
No
Yes
0
0.50
0.50
No
26
0
0
7
0
7
0
location suitable for housing at
Zoning
288
PARK LP
the existing zoning density
Density
during this update.
This site was identified by the
City during the 51" Cycle Housing
047 031 19
Developme
MU-
CV/15T
MU-H4
No
Yes
0
0.29
0.29
No
23
0
0
4
0
4
0
Element Update and remains a
Existing
Zoning
280
nt Lllp
H ST
location suitable for housing at
Density
the existing zoning density
during this update.
This site was identified by the
City during the 5t" Cycle Housing
MU-
Element Update and remains a
Existing
047 041 31
Llc
CV/15T
MU-H4
No
Yes
0
0.07
0.07
No
14
0
0
1
0
1
0
Zoning
312
H ST
location suitable for housing at
Density
the existing zoning density
during this update.
This site was identified by the
City during the 5t" Cycle Housing
MU-
Element Update and remains a
Existing
047 04106
Partnership
CV/15T
MU-H4
No
Yes
0
0.11
0.11
No
18
0
0
2
0
2
0
location suitable for housing at
Zoning
330
H ST
the existing zoning density
Density
during this update.
This site was identified by the
City during the 51" Cycle Housing
047 041 35
Close 2010
MU-
CV/15T
MU-H4
No
Yes
0
0.09
0.09
No
22
0
0
1
0
1
0
Element Update and remains a
Existing
Zoning
296
Irrevoc T
H ST
location suitable for housing at
Density
the existing zoning density
during this update.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-57
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-17: Dover-Westcliff Sites Inventory
Existing
DensityDu Ac
(/)
Assumed Net Unit
Existin
General
5t"
HCD
Potential
Yield
Letter
Parcel
g
Plan
Vacancy
Cycle
Existing
Gross
Buildable
Sizing
Existing
Rezoned
Rezoned
Assumed
Low/
Existing Use and Explanation of
Interest
Focus
Inventory
Number
Owner
Units
Acreage
Acreage
Criteria
Unit
Net Yield
Above
Propensity
Area
/Map ID
Zoning
Land
Site?
7
Zone
Density
Yield
Very
Mod
Mod
?
Use
Density
(Assumed)
Low
This site was identified by the
HILTON
City during the 5t" Cycle Housing
047 041 24
DANNY
MU
CV/15T
MU-1-14
No
Yes
1
0.06
0.06
No
15
0
0
1
0
1
0
Element Update and remains a
Existing
Zoning
314
CHARLES
H ST
location suitable for housing at
Density
TR
the existing zoning density
during this update.
This site was identified by the
City during the 5t" Cycle Housing
047 03102
KERRAGEO
M U-
CV/15T
MU-H4
No
Yes
0
0.06
0.06
No
15
0
0
1
0
1
0
Element Update and remains a
Existing
Zoning
310
US I LLC
H ST
location suitable for housing at
Density
the existing zoning density
during this update.
This site was identified by the
City during the 5t" Cycle Housing
Golden
MU
Element Update and remains a
Existing
049 130 22
Hills
W1
MU-W1
No
Yes
0
1.39
1.39
Yes
5
0
0
8
0
0
g
location suitable for housing at
Y
Zoning
5
Towers LLC
the existing zoning density
Density
during this update.
This site was identified by the
City during the 51" Cycle Housing
047 041 33
KERRAGEO
M U-
CV/15T
MU-H4
No
Yes
0
0.19
0.19
No
26
0
0
5
0
5
0
Element Update and remains a
Existing
Zoning
322
US I LLC
H ST
location suitable for housing at
Density
the existing zoning density
during this update.
This site was identified by the
City during the 5t" Cycle Housing
047 03103
KERRAGEO
MU-
CV/15T
MU-1-14
No
Yes
0
0.19
0.19
No
26
0
0
3
0
3
0
Element Update and remains a
Existing
Zoning
283
US I LLC
H ST
location suitable for housing at
Density
the existing zoning density
during this update.
This site was identified by the
City during the 5t" Cycle Housing
047 032 04
Charlotte L
MU-
CV/15T
MU-1-14
No
Yes
0
0.06
0.06
No
15
0
0
1
0
1
0
Element Update and remains a
Existing
Zoning
308
Jackson
H ST
location suitable for housing at
Density
the existing zoning density
during this update.
This site was identified by the
City during the 5t" Cycle Housing
BATAVIA
MU-
Element Update and remains a
Existing
047 031 20
BUSINESS
T
CV/15
MU-1-14
No
Yes
0
0.24
0.24
No
25
0
0
3
0
3
0
location suitable for housing at
Zoning
281
PARK LP
H ST
the existing zoning density
Density
during this update.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-58
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-17: Dover-Westcliff Sites Inventory
Existing
DensityDu Ac
(/)
Assumed Net Unit
Existin
General
5t"
HCD
Potential
Yield
Letter
Parcel
g
Plan
Vacancy
Cycle
Existing
Gross
Buildable
Sizing
Existing
Rezoned
Rezoned
Assumed
Low/
Existing Use and Explanation of
Interest
Focus
Inventory
Number
Owner
Units
Acreage
Acreage
Criteria
Unit
Net Yield
Above
Propensity
Area
/Map ID
Zoning
Land
Site?
7
Zone
Density
Yield
Very
Mod
Mod
?
Use
Density
(Assumed)
Low
This site was identified by the
City during the 5t" Cycle Housing
MU-
Element Update and remains a
Existing
047 032 03
Ellison Tr
CV/15T
MU-H4
No
Yes
0
0.06
0.06
No
15
0
0
1
0
1
0
Zoning
303
H
ST
location suitable for housing at
Density
the existing zoning density
during this update.
This site was identified by the
City during the 5t" Cycle Housing
047 041 12
KERRAGEO
MU-
CV/15T
MU-H4
No
Yes
0
0.10
0.10
No
20
0
0
2
0
2
0
Element Update and remains a
Existing
Zoning
328
US I LLC
H ST
location suitable for housing at
Density
the existing zoning density
during this update.
This site was identified by the
City during the 5t" Cycle Housing
MU-
Element Update and remains a
Existing
047 043 11
Tr
CV/15T
MU-H4
No
Yes
0
0.06
0.06
No
15
0
0
1
0
1
0
Zoning
301
H ST
location suitable for housing at
Density
the existing zoning density
during this update.
C-N
MU-
The city is aware of a
Pipeline
047 042 32
Properties
CV/15T
MU-H4
No
0
0.06
0.06
N/A
15
0
0
3
0
0
3
development proposal on this
247
LP
H
ST
site.
Project
This site was identified by the
City during the 5t" Cycle Housing
MU-
Element Update and remains a
Existing
047 042 07
Ptnshp
CV/15T
MU-H4
No
Yes
0
0.06
0.06
No
15
0
0
1
0
1
0
Zoning
305
H ST
location suitable for housing at
Density
the existing zoning density
during this update.
This site was identified by the
City during the 51" Cycle Housing
047 042 04
Marshall
MU-
CV/15T
MU-H4
No
Yes
0
0.06
0.06
No
15
0
0
1
0
1
0
Element Update and remains a
Existing
Zoning
306
Family Tr
H
ST
location suitable for housing at
Density
the existing zoning density
during this update.
410 Twenty
The city is aware of a
Pipeline
047 052 01
Ninth
MU-H4
No
0
0
0.05
0.05
N/A
0
0
0
4
0
0
4
development proposal on this
259
Street LLC
site.
Project
This site was identified by the
City during the 51" Cycle Housing
047 042 20
PAPA JET
MU-
CV/15T
MU-H4
No
Yes
0
0.06
0.06
No
15
0
0
1
0
1
0
Element Update and remains a
Existing
Zoning
302
LLC
H
ST
location suitable for housing at
Density
the existing zoning density
during this update.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-59
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-17: Dover-Westcliff Sites Inventory
Existing
DensityDu Ac
(/)
Assumed Net Unit
Existin
General
5tn
HCD
Potential
Yield
Letter
Parcel
Existing
Gross
Buildable
Sizing
Rezoned
Assumed
Existing Use and Explanation of
Focus
Inventory
Number
Owner
g
Plan
Vacancy
Cycle
Units
Acreage
Acreage
Criteria
Existing
Rezoned
Unit
Net Yield
Low/
Above
Propensity
Interest
Area
/Map ID
Zoning
Land
Site?
Zone
Densit y
Very
Mod
?
Yield
Mod
Use
Density
(Assumed)
Low
This site was identified by the
City during the 5th Cycle Housing
CANNERY
MU-
Element Update and remains a
Existing
047 032 19
CV/15T
MU-H4
No
Yes
0
0.27
0.27
No
25
0
0
4
0
4
0
Zoning
279
LLC
H
ST
location suitable for housing at
Density
the existing zoning density
during this update.
This site was identified by the
City during the 5th Cycle Housing
EVERGREE
MU-
Existing
047 032 07
N POPPY
CV/15T
MU-H4
No
Yes
1
0.06
0.06
No
15
0
0
1
0
1
0
Element Update and remains a
Zoning
313
LLC
" ST
location suitable for housing at
Density
the existing zoning density
during this update.
DMP
Owner requested addition of
117-631-21
Properties
No
No
0.86
0.86
No
43
site to the Inventory
355
Palmo
Owner requested addition of
Existing
049-191-30
Investment
MU-H4
No
No
1.55
1.55
Yes
117
Zoning
361
site to the Inventory
s GP
Density
5th Cycle Sites Total:
336
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-60
City of Newport Beach
2021-2029 HOUSING ELEMENT
Newport Center Area
Newport Center has recently had construction of several new residential developments. In 2016,
construction was completed on the Meridian project, which replaced eight underutilized tennis courts
and resulted in a gain of 79 condominium units at 18.5 du/acre. This project required the approval of a
General Plan amendment from the City and a Local Coastal Program (LCP) amendment from the Coastal
Commission. In 2017, the area gained 524 apartment units from the completion of the Villas at Fashion
Island Project, which replaced a large office plaza. The development area achieved a density of
approximately 36 du/acre and demonstrates the possibility of high -density housing in the Newport Center
Area. The project included an affordable housing component where nearby market rate housing units
were converted to moderate income units. This fact demonstrates the City's ability to provide affordable
housing opportunities when entitling market rate housing in the Newport Center area. In 2019, the City
granted entitlements for the redevelopment of a museum site formerly occupied by the Orange County
Museum of Art. This project, Vivante Senior Housing, resulted in a gain of 90 new senior living units at a
density of 30 du/acre. These projects further demonstrate that nonvacant sites are viable in the Newport
Center area.
The City expects the continuation of these development opportunities that create housing adjacent to
major employment opportunities and support retail. Currently, there is strong owner interest to develop
additional multi -family housing in the area on several sites that are occupied by large surface parking lots
and older commercial developments. Additionally, The Newport Beach Tennis Club site (Map IDS. 214,
182, 240, and 257) was entitled to construct a new tennis facility, hotel accommodations and low -density
housing in 2012 and 2018. The property owner is currently conducting due diligence to seek entitlements
to construct a high -density housing project consisting of 350 units on a 7-acre site creating a 50 du/acre
project. Based on track record of development in the Newport Center Area and recent discussions with
property owners, existing development is not presumed to be impediment to housing development due
to the high values achieved with residential use. Put simply, when the value of residential development
exceeds the value of the existing development sufficiently to absorb the cost to redevelop, the existing
improvements are not considered an impediment to housing. The high property values and rents currently
achieved in Newport Center with existing residential uses that replaced prior uses is compelling evidence
that nonvacant sites are feasible for future residential use. Table B-18 is a summarized version of
Attachments 1 through 3. For more detailed information, please see the Attachments.
Table B-18: Newport Center Area Pipeline Projects Summarized
Project
Density
Evidence for Future
Development
Approved Projects
Residences at Newport Center
23 du/acre
The Project site currently has
one carwash. The Project
demonstrates that nonvacant
sites are viable for
redevelopment into high -
density residential and mixed -
use developments.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-61
City of Newport Beach
2021-2029 HOUSING ELEMENT
Approved Projects
Ritz Carlton Residences
57 du/ac
Owner has received approval of
an entitlement application to
convert 159 hotel rooms to 159
residences.
Of the 432 acres of land deemed suitable for residential development in the Newport Center Area, 172
acres met the criteria required by AB 1397 for sites projected to accommodate Low and Very Low -Income
units. Although the parcels within the Sites Inventory have the capacity to accommodate approximately
7,883 units of development (at an assumed unit yield of 50 du/ac), an assumption of approximately 30%
redevelopment has been applied considering development history, economic factors, and AFFH
requirements. The assumed buildout is therefore projected at 2,374 units, 712 of which are projected to
develop affordably.
Table B-19 below displays the capacity and opportunity in this Focus Area which can help accommodate
the City's RHNA allocation. Figure B-6 below maps the sites identified within this Focus Area which can
accommodate the City's RHNA allocation.
Table B-19: Newport Center Area — Redevelopment Analvsis
Feasible
Assumed
Net Units
Above
Acreage
Density
Low Very Low
Moderate
Total
Moderate
172 acres
50 du/ac
712 units
237 units
1,425 units
2,374 units
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-62
City of Newport Beach
2021-2029 HOUSING ELEMENT
Figure 13-6: Newport Center Area — Sites Inventory
Site Inventory:
Newport Center Area
LEGEND
City Boundary
Sth Cycle Sites
Pipeline Projects
opportunity Sites
Key Map
IInYt.n - cow P
—h Lasta -
'L
] wn
f Wr
f 4In
-iiiiiiiiiiiiiiiiiiii==Feel
NORTH 0 500 1,000
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-63
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-20: Newport Center Sites Inventory
Existing
Density (Du/Ac)
Potentia
Assumed Net Unit Yield
General
5th
Gross
HCD
I
Parcel
Existing
Plan
Vacancy
Cycle
Existing
Acreag
Buildable
Sizing
Existing
Rezoned
Rezoned
Assumed
Low/
Above
Existing Use and Explanation
Letter
Focus
Inventory
Number
Owner
Zoning
Land
Site?
Units
Acreage
Criteria?
Zone
Density
Unit
Net Yield
Very
Mod
of Propensity
Interest?
Area
/Map ID
a
Mod
Use
Density
(Assumed)
Yield
Low
This parcel is a site that was
proposed for 21 housing units
but the application was
withdrawn before it went to
Pacific Bell
the Planning Commission. The
Newport
458 361 10
Telephone
PF
PF
No
0
1.29
1.29
Yes
0
50
64
64
19
6
39
site is feasible for housing,
Y
Center
141
Company
although the density may
Area
have to be reduced in order
for a design to be achieved
that meets any safety
concerns.
This parcel contains the
Newport Beach Tennis Club.
Given the minor amount of
Newport
440 281 02
Ath LLC
PC
PR
No
0
7.60
7.60
Yes
0
50
379
379
114
38
227
Center
145
building improvements, the
site could readily be
Area
redeveloped for housing.
These parcels are a religious
facility with large parking lots.
Church
Newport
Additional development or
458 341 02
Newport
PI
PI
No
0
3.03
3.03
Yes
0
50
151
151
45
15
91
replacement development are
Center
146
Center
both feasible paths for
Area
residential units on this site.
These parcels are a religious
facility with large parking lots.
Wardens
Additional development or
Newport
45834101
Rector
PI
PI
No
0
3.60
3.60
Yes
0
50
179
179
54
18
107
replacement development are
Center
147
both feasible paths for
Area
residential units on this site.
This parcel contains an
improved parking lot for the
surrounding office buildings
and cosmetic surgery offices.
Due to the excess amount of
Irvine
parking on the site, there is
Newport
442 271 30
PC
CO-R
No
0
0.75
0.75
Yes
0
50
37
37
11
4
22
Center
148
Company
feasible room to
accommodate housing units.
Area
The property owner should be
advised that a land use
change to allow housing
might be possible.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-64
2Ciryryty of Newport Beach
01
Table B-20: Newport Center Sites Inventory
Existing
Density (Du/Ac)
Potentia
Assumed Net Unit Yield
General
5th
Gross
HCD
I
Parcel
Existing
Plan
Vacancy
Cycle
Existing
Acreag
Buildable
Sizing
Existing
Rezoned
Rezoned
Assumed
Low/
Above
Existing Use and Explanation
Letter
Focus
Inventory
Number
Owner
Zoning
Land
Site?
Units
Acreage
Criteria?
Zone
Density
Unit
Net Yield
Very
Mod
of Propensity
Interest?
Area
/Map ID
a
Mod
Use
Density
(Assumed)
Yield
Low
This parcel contains an
improved parking lot for the
surrounding office buildings
and cosmetic surgery offices.
Due to the excess amount of
Irvine
parking on the site, there is
Newport
442 271 30
Company
PC
CO-R
No
0
0.75
0.75
Yes
0
50
37
37
11
4
22
feasible room to
Center
148
accommodate housing units.
Area
The property owner should be
advised that a land use
change to allow housing
might be possible.
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
The Irvine
Center. Mixed -use
Newport
442 02147
Company LLC
PC
CR
No
0
0.54
0.54
Yes
0
50
26
26
8
3
15
development of residential
Center
152
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
The Irvine
Center. Mixed -use
Newport
442 02147
Company LLC
PC
CR
No
0
0.54
0.54
Yes
0
50
26
26
8
3
15
development of residential
Center
152
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
This parcel includes the
Palisades Tennis Club. Given
the minor amount of building
improvements, the site could
Jgkallins
readily be redeveloped for
Newport
44013240
Investments
PR
PR
No
0
1.79
1.79
Yes
0
50
89
89
27
9
53
housing. If the site is found
Center
154
suitable, the property owner
Area
should be advised that a land
use change to allow housing
might be possible.
The current owner of the
180 Investors
property has expressed to City
Newport
44223108
LLC
OR
CO-R
No
0
1.17
1.17
Yes
0
50
58
58
17
6
35
staff written interest to allow
Y
Center
155
housing.
Area
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-65
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-20: Newport Center Sites Inventory
Existing
Density (Du/Ac)
Potentia
Assumed Net Unit Yield
General
5th
Gross
HCD
I
Parcel
Existing
Plan
Vacancy
Cycle
Existing
Acreag
Buildable
Sizing
Existing
Rezoned
Rezoned
Assumed
Low/
Above
Existing Use and Explanation
Letter
Focus
Inventory
Number
Owner
Zoning
Land
Site?
Units
Acreage
Criteria?
Zone
Density
Unit
Net Yield
Very
Mod
of Propensity
Interest?
Area
/Map ID
a
Mod
Use
Density
(Assumed)
Yield
Low
The current owner of the
property has expressed to City
Newport
442 082 11
Ncmb No LLC
PC
CO-M
No
0
2.72
2.72
Yes
0
50
135
135
41
14
80
Y
Center
157
staff written interest to
develop housing.
Area
The current owner of the
property has expressed tCity
o
Newport
442 082 14
Ncmb No LLC
PC
COW
No
0
4.05
4.05
Yes
0
50
202
202
61
20
121
staff written interest
Y
Center
158
develop housing.
Area
The current owner of the
o
property has expressed tCity
Newport
442 082 08
Ncmb No LLC
PC
COW
No
0
3.46
3.46
Yes
0
50
173
173
52
17
104
Y
Center
159
staff written interest
develop housing.
Area
This parcel is an older office
building on a smaller parcel
that is a potential site for
housing. If the site is found
Newport
442 082 12
Ncmb No LLC
PC
COW
No
0
1.17
1.17
Yes
0
50
58
58
17
6
35
Y
Center
160
suitable, the property owner
should be advised that a land
Area
use change to allow housing
might be possible.
This parcel contains office
space for corporate
companies with large
amounts of surrounding
landscape. Due to the large
Newport
442 271 17
17 Corporate
PC
CO-R
No
0
1.04
1.04
Yes
0
50
51
51
15
5
31
parcel size, this site can be a
Center
162
Plaza Assoc
potential site for housing. The
Area
property owner should be
advised that a land use
change to allow housing
might be possible.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-66
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-20: Newport Center Sites Inventory
Existing
Density (Du/Ac)
Potentia
Assumed Net Unit Yield
General
5th
Gross
HCD
I
Parcel
Existing
Plan
Vacancy
Cycle
Existing
Acreag
Buildable
Sizing
Existing
Rezoned
Rezoned
Assumed
Low/
Above
Existing Use and Explanation
Letter
Focus
Inventory
Number
Owner
Zoning
Land
Site?
Units
Acreage
Criteria?
Zone
Density
Unit
Net Yield
Very
Mod
of Propensity
Interest?
Area
/Map ID
a
Mod
Use
Density
(Assumed)
Yield
Low
This parcel contains office
space for corporate
companies with large
amounts of surrounding
Mark
landscape. Due to the large
Newport
442 271 23
Robinson Jr
PC
CC-R
No
0
0.55
0.55
Yes
0
50
27
27
8
3
16
parcel size, this site can be a
Center
163
LLC
potential site for housing. The
Area
property owner should be
advised that a land use
change to allow housing
might be possible.
The current owner of the
Mitchell
to City
property has expressedto
Newport
442 271 12
JunkiArea
PC
CO-R
No
0
0.76
0.76
Yes
0
50
38
38
11
4
23
staff written interest allow
Y
Center
164
housing.
The current owner of the
Property
property has expressed to City
Newport
442 271 05
Reserve Inc
PC
CO-R
No
0
0.89
0.89
Yes
0
50
44
44
13
4
27
staff written interest to allow
Y
Center
165
housing.
Area
The current owner of the
Property
property has expressed to City
Newport
44227103
Reserve Inc
PC
CO-R
No
0
0.89
0.89
Yes
0
50
44
44
13
4
27
staff written interest to allow
Y
Center
166
housing.
Area
This parcel contains office
space for corporate
companies with large
amounts of surrounding
landscape. Due to the large
Newport
Burnham-
442 271 32
PC
CO-R
No
0
0.98
0.98
Yes
0
50
49
49
15
5
29
parcel size, this site can be a
Center
167
Newport LLC
potential site for housing. The
Area
property owner should be
advised that a land use
change to allow housing
might be possible.
This parcel contains office
space for corporate
companies with large
amounts of surrounding
Newport
landscape. Due to the large
Newport
442 271 16
Corporate
PC
CO-R
No
0
1.02
1.02
Yes
0
50
51
51
15
5
31
parcel size, this site can be a
Center
168
Plaza
potential site for housing. The
Area
property owner should be
advised that a land use
change to allow housing
might be possible.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-67
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-20: Newport Center Sites Inventory
Existing
Density (Du/Ac)
Potentia
Assumed Net Unit Yield
Parcel
Existing
General
5th
Existing
Gross
Buildable
HCD
Existing
Rezoned
I
Assumed
Low/
Existing Use and Explanation
Letter
Focus
Inventory
Number
Owner
Zoning
Plan
Vacancy
Cycle
Units
Acreag
Acreage
Sizing
Zone
Density
Rezoned
Net Yield
Very
Mod
Above
of Propensity
Interest?
Area
/Map ID
Land
Site?
a
Criteria?
Unit
Mod
Use
Density
(Assumed)
Yield
Low
This parcel contains office
space for corporate
companies with large
amounts of surrounding
landscape. Due to the large
Newport
442 271 15
Heritage One
PC
CO-R
No
0
0.68
0.68
Yes
0
50
33
33
10
3
20
parcel size, this site can be a
Center
169
LLC
potential site for housing. The
Area
property owner should be
advised that a land use
change to allow housing
might be possible.
This parcel contains office
space for corporate
companies with large
amounts of surrounding
Pacific
landscape. Due to the large
Newport
442 271 01
Development
PC
CO-R
No
0
0.84
0.84
Yes
0
50
41
41
12
4
25
parcel size, this site can be a
Center
170
Group
potential site for housing. The
Area
property owner should be
advised that a land use
change to allow housing
might be possible.
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
Center. Mixed -use
Newport
442 271 34
Scott Boras
PC
CO-R
No
0
0.51
0.51
Yes
0
50
25
25
8
3
14
development of residential
Center
172
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
GeorgeCenter.
Mixed -use
Newport
44227114
Randy
PC
CO-R
No
0
0.88
0.88
Yes
0
50
44
44
13
4
27
development of residential
Center
173
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
The current owner of the
o
property has expressed tCity
Newport
442 271 04
Division Tax
PC
CO-R
No
0
0.97
0.97
Yes
0
50
48
48
14
5
29
staff written interest
Y
Center
174
develop housing.
Area
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-68
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-20: Newport Center Sites Inventory
Existing
Density (Du/Ac)
Potentia
Assumed Net Unit Yield
Parcel
Existing
General
5th
Existing
Gross
Buildable
HCD
Existing
Rezoned
I
Assumed
Low/
Existing Use and Explanation
Letter
Focus
Inventory
Number
Owner
Zoning
Plan
Vacancy
Cycle
Units
Acreag
Acreage
Sizing
Zone
Density
Rezoned
Net Yield
Very
Mod
Above
of Propensity
Interest?
Area
/Map ID
Land
Site?
a
Criteria?
Unit
Mod
Use
Density
(Assumed)
Yield
Low
These parcels are a portion of
the large commercial
development including retail
Chico
and office space in Newport
Newport
Center. Mixed -use
442 271 13
Associates
PC
CO-R
No
0
0.76
0.76
Yes
0
50
38
38
11
4
23
development of residential
Center
175
Inc
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
This parcel contains office
space for corporate
companies with large
amounts of surrounding
landscape. Due to the large
Newport
442 271 19
Co Irvine
PC
CO-R
No
0
1.13
1.13
Yes
0
50
56
56
17
6
33
parcel size, this site can be a
Center
176
potential site for housing. The
Area
property owner should be
advised that a land use
change to allow housing
might be possible.
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
Irvine
Center. Mixed -use
Newport
442 271 31
Company
PC
CO-R
No
0
3.00
3.00
Yes
0
50
149
149
45
15
89
development of residential
Center
178
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
ratate
24 Corporate
Center. Mixed -use
Newport
44227133
Plaza II LC
PC
CO-R
No
0
0.98
0.98
Yes
0
50
49
49
15
5
29
development of residential
Center
179
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-69
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-20: Newport Center Sites Inventory
Existing
Density (Du/Ac)
Potentia
Assumed Net Unit Yield
General
5th
Gross
HCD
I
Parcel
Existing
Plan
Vacancy
Cycle
Existing
Acreag
Buildable
Sizing
Existing
Rezoned
Rezoned
Assumed
Low/
Above
Existing Use and Explanation
Letter
Focus
Inventory
Number
Owner
Zoning
Land
Site?
Units
Acreage
Criteria?
Zone
Density
Unit
Net Yield
Very
Mod
of Propensity
Interest?
Area
/Map ID
a
Mod
Use
Density
(Assumed)
Yield
Low
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
Baldwin
Newport
Center. Mixed -use
442 271 24
Bone
PC
CO-R
No
0
0.70
0.70
Yes
0
50
35
35
11
4
20
development of residential
Center
180
Properties
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
This parcel contains the
Newport Beach Country Club.
A large part of this parcel is a
parking lot, yet can offer
Newport
442 011 53
Fainbarg
PC
PR
No
0
2.98
2.98
Yes
0
50
149
149
45
15
89
housing redevelopment above
Center
181
the club parking. The property
Area
owner should be advised that
a land use change to allow
housing might be possible.
The current owner of the
Golf Realty
MU
property has expressed to City
Newport
44201164
Fund LP
PC
H3/PR
No
0
2.96
2.96
Yes
0
50
148
25 *
6
2
17
staff written interest to
Y
Center
182
develop housing.
Area
This parcel includes the
Palisades Tennis Club. Given
the minor amount of building
improvements, the site could
readily be redeveloped for
Newport
440 132 48
Russell Fluter
PR
PR
No
0
2.80
2.80
Yes
0
50
140
140
42
14
84
Center
184
housing. If the site is found
suitable, the property owner
Area
should be advised that a land
use change to allow housing
might be possible.
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
Southwest
Center. Mixed -use
Newport
44223109
Investors
OR
CO-R
No
0
0.51
0.51
Yes
0
50
25
25
8
3
14
development of residential
Center
185
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-70
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-20: Newport Center Sites Inventory
Existing
Density (Du/Ac)
Potentia
Assumed Net Unit Yield
General
5th
Gross
HCD
I
Parcel
Existing
Plan
Vacancy
Cycle
Existing
Acreag
Buildable
Sizing
Existing
Rezoned
Rezoned
Assumed
Low/
Above
Existing Use and Explanation
Letter
Focus
Inventory
Number
Owner
Zoning
Land
Site?
Units
Acreage
Criteria?
Zone
Density
Unit
Net Yield
Very
Mod
of Propensity
Interest?
Area
/Map ID
a
Mod
Use
Density
(Assumed)
Yield
Low
This parcel contains an
improved parking lot for
nearby commercial and retail
stores. Due to the excess
amount of parking on the site,
Newport
Design Plaza
442 161 17
OR
CO-R
No
0
7.17
7.17
Yes
0
50
358
358
107
36
215
there is feasible room to
Center
186
Owners Assn
accommodate housing units.
Area
The property owner should be
advised that a land use
change to allow housing
might be possible.
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
100 Newport
Center. Mixed -use
Newport
442 231 13
Center Drive
OR
CO-R
No
0
0.61
0.61
Yes
0
50
30
30
9
3
18
development of residential
Center
187
LLC
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
This parcel contains the
Marriot Hotel, with two hotel
towers and an irregularly
shaped three-story hotel
room building that can be
Newport
Hhr Newport
442 491 02
CV
CV
No
0
9.54
9.54
Yes
0
50
476
476
143
48
285
converted to housing. If the
Center
188
Beach LLC
addition of housing is found
Area
suitable, the property owner
should be advised that a land
use change to allow housing
could be possible.
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
Center. Mixed -use
Newport
442 082 05
Co Irvine
PC
CO-M
No
0
4.10
4.10
Yes
0
50
204
204
61
20
123
development of residential
Center
189
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-71
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-20: Newport Center Sites Inventory
Existing
Density (Du/Ac)
Potentia
Assumed Net Unit Yield
Parcel
Existing
General
5th
Existing
Gross
Buildable
HCD
Existing
Rezoned
I
Assumed
Low/
Existing Use and Explanation
Letter
Focus
Inventory
Number
Owner
Zoning
Plan
Vacancy
Cycle
Units
Acreag
Acreage
Sizing
Zone
Density
Rezoned
Net Yield
Very
Mod
Above
of Propensity
Interest?
Area
/Map ID
Land
Site?
a
Criteria?
Unit
Mod
Use
Density
(Assumed)
Yield
Low
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
Center. Mixed -use
Newport
442 021 28
Co Irvine
PC
CR
No
0
1.74
1.74
Yes
0
50
87
87
26
9
52
development of residential
Center
190
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
Irvine
Center. Mixed -use
Newport
442 021 26
Company LLC
PC
CR
No
0
2.50
2.50
Yes
0
50
125
125
38
13
74
development of residential
Center
191
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
This parcel in combination
with parcel 203 contains
parking for surrounding office
space buildings. Due to the
excess amount of parking on
Newport
442 231 11
Co Irvine
PC
CO-R
No
0
2.83
2.83
Yes
0
50
141
141
42
14
85
the site, there is feasible room
Center
192
to accommodate housing
Area
units. The property owner
should be advised that a land
use change to allow housing
might be possible.
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
Irvine
Center. Mixed -use
Newport
442 021 13
Company LLC
PC
CR
No
0
1.73
1.73
Yes
0
50
86
86
26
9
51
development of residential
Center
193
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-72
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-20: Newport Center Sites Inventory
Existing
Density (Du/Ac)
Potentia
Assumed Net Unit Yield
Existing
Rezoned
Low/
Parcel
Existing
General
5th
Existing
Gross
Buildable
HCD
I
Assumed
Existing Use and Explanation
Letter
Focus
Inventory
Number
Owner
Zoning
Plan
Vacancy
Cycle
Units
Acreag
Acreage
Sizing
Zone
Density
Rezoned
Net Yield
Very
Mod
Above
of Propensity
Interest?
Area
/Map ID
Land
Site?
a
Criteria?
Unit
Mod
Use
Density
(Assumed)
Yield
Low
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
Center. Mixed -use
Newport
442 021 08
Co Irvine
PC
CR
No
0
0.80
0.80
Yes
0
50
40
40
12
4
24
development of residential
Center
194
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
Center. Mixed -use
Newport
442 021 32
Co Irvine
PC
CR
No
0
0.63
0.63
Yes
0
50
31
31
9
3
19
development of residential
Center
195
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
Irvine
Center. Mixed -use
Newport
442 021 29
Company LLC
PC
CR
No
0
4.09
4.09
Yes
0
50
204
204
61
20
123
development of residential
Center
196
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
Center. Mixed -use
Newport
442 021 30
Co Irvine
PC
CR
No
0
1.24
1.24
Yes
0
50
62
62
19
6
37
development of residential
Center
197
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-73
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-20: Newport Center Sites Inventory
Existing
Density (Du/Ac)
Potentia
Assumed Net Unit Yield
Parcel
Existing
General
5th
Existing
Gross
Buildable
HCD
Existing
Rezoned
I
Assumed
Low/
Existing Use and Explanation
Letter
Focus
Inventory
Number
Owner
Zoning
Plan
Vacancy
Cycle
Units
Acreag
Acreage
Sizing
Zone
Density
Rezoned
Net Yield
Very
Mod
Above
of Propensity
Interest?
Area
/Map ID
Land
Site?
a
Criteria?
Unit
Mod
Use
Density
(Assumed)
Yield
Low
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
Center. Mixed -use
Newport
442 021 27
Co Irvine
PC
CR
No
0
1.17
1.17
Yes
0
50
58
58
17
6
35
development of residential
Center
198
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
The Irvine
Center. Mixed -use
Newport
442 02140
Company LLC
PC
CR
No
0
0.87
0.87
Yes
0
50
43
43
13
4
26
development of residential
Center
199
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
The Irvine
Center. Mixed -use
Newport
44202146
Company LLC
PC
CR
No
0
4.11
4.11
Yes
0
50
205
205
62
21
122
development of residential
Center
200
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
Center. Mixed -use
Newport
442 021 35
Co Irvine
PC
CR
No
0
0.56
0.56
Yes
0
50
28
28
8
3
17
development of residential
Center
201
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-74
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-20: Newport Center Sites Inventory
Existing
Density (Du/Ac)
Potentia
Assumed Net Unit Yield
General
5th
Gross
HCD
I
Parcel
Existing
Plan
Vacancy
Cycle
Existing
Acreag
Buildable
Sizing
Existing
Rezoned
Rezoned
Assumed
Low/
Above
Existing Use and Explanation
Letter
Focus
Inventory
Number
Owner
Zoning
Land
Site?
Units
Acreage
Criteria?
Zone
Density
Unit
Net Yield
Very
Mod
of Propensity
Interest?
Area
/Map ID
a
Mod
Use
Density
(Assumed)
Yield
Low
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
Center. Mixed -use
Newport
442 021 33
Co Irvine
PC
CR
No
0
4.03
4.03
Yes
0
50
201
201
60
20
121
development of residential
Center
202
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
This parcel in combination
with parcel 192 contains
parking for surrounding office
space buildings. Due to the
excess amount of parking on
Newport
442 231 14
Co Irvine
PC
CO-R
No
0
4.10
4.10
Yes
0
50
205
205
62
21
122
the site, there is feasible room
Center
203
to accommodate housing
Area
units. The property owner
should be advised that a land
use change to allow housing
might be possible.
This parcel is the Fashion
Island Hotel and parking
structures that could be
reconfigured to accommodate
Newport
Island Hotel
442 101 27
PC
MU-H3
No
0
5.37
5.37
Yes
0
50
268
268
80
27
161
housing. If the site is found
Center
204
Finance LLC
suitable, the property owner
Area
should be advised that a land
use change to allow some
housing might be possible.
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
Center. Mixed -use
Newport
442 021 31
Co Irvine
PC
CR
No
0
8.25
8.25
Yes
0
50
412
412
124
41
247
Center
205
development of residential
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-75
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-20: Newport Center Sites Inventory
Existing
Density (Du/Ac)
Potentia
Assumed Net Unit Yield
Parcel
Existing
General
5th
Existing
Gross
Buildable
HCD
Existing
Rezoned
I
Assumed
Low/
Existing Use and Explanation
Letter
Focus
Inventory
Number
Owner
Zoning
Plan
Vacancy
Cycle
Units
Acreag
Acreage
Sizing
Zone
Density
Rezoned
Net Yield
Very
Mod
Above
of Propensity
Interest?
Area
/Map ID
Land
Site?
a
Criteria?
Unit
Mod
Use
Density
(Assumed)
Yield
Low
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
Center. Mixed -use
Newport
442 021 11
Co Irvine
PC
CR
No
0
0.56
0.56
Yes
0
50
27
27
8
3
16
development of residential
Center
206
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
Irvine
Center. Mixed -use
Newport
442 021 17
Company
PC
CR
No
0
1.74
1.74
Yes
0
50
87
87
26
9
52
development of residential
Center
207
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
The Irvine
Center. Mixed -use
Newport
442 02143
Company LLC
PC
CR
No
0
5.43
5.43
Yes
0
50
271
271
81
27
163
development of residential
Center
208
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
The Irvine
Center. Mixed -use
Newport
442 02145
Company LLC
PC
CR
No
0
0.99
0.99
Yes
0
50
49
49
15
5
29
development of residential
Center
209
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-76
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-20: Newport Center Sites Inventory
Existing
Density (Du/Ac)
Potentia
Assumed Net Unit Yield
Parcel
Existing
General
5th
Existing
Gross
Buildable
HCD
Existing
Rezoned
I
Assumed
Low/
Existing Use and Explanation
Letter
Focus
Inventory
Number
Owner
Zoning
Plan
Vacancy
Cycle
Units
Acreag
Acreage
Sizing
Zone
Density
Rezoned
Net Yield
Very
Mod
Above
of Propensity
Interest?
Area
/Map ID
Land
Site?
a
Criteria?
Unit
Mod
Use
Density
(Assumed)
Yield
Low
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
Irvine Co LLC
Center. Mixed -use
Newport
442 02144
The
PC
CR
No
0
1.25
1.25
Yes
0
50
62
62
19
6
37
development of residential
Center
210
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
The Irvine
Center. Mixed -use
Newport
442 02142
Company LLC
PC
CR
No
0
4.16
4.16
Yes
0
50
208
208
62
21
125
development of residential
Center
211
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
This parcel has a two mid -rise
office buildings and a large
parking structure with some
adjacent surface parking that
might be able to be
re
Brett
reconfigured to create a
Newport
44241101
Feu tein
PC
CG
No
0
1.12
1.12
Yes
0
50
56
56
17
6
33
housing site. If the site a
Center
212
found suitable, the property
Area
owner should be advised that
a land use change to allow
some housing might be
possible.
These parcels are a portion of
the large commercial
development including retail
and office space in Newport
Center. Mixed -use
Newport
442 261 21
Co Irvine
MU-H3
No
0
2.23
2.23
Yes
0
50
111
111
33
11
67
development of residential
Center
213
units or replacement housing
Area
(possibly incorporating the
surrounding parking lots) are
both possibilities on this site.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-77
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-20: Newport Center Sites Inventory
Existing
Density (Du/Ac)
Potentia
Assumed Net Unit Yield
General
5th
Gross
HCD
I
Parcel
Existing
Plan
Vacancy
Cycle
Existing
Acreag
Buildable
Sizing
Existing
Rezoned
Rezoned
Assumed
Low/
Existing Use and Explanation
Letter
Focus
Inventory
Number
Owner
Zoning
Units
Acreage
Zone
Density
Net Yield
Very
Mod
Above
of Propensity
Interest?
Area
/Map ID
Land
Site?
a
Criteria?
Unit
Mod
Use
Density
(Assumed)
Yield
Low
The current owner of the
Golf Realty
MU
property has expressed to City
Newport
44201165
Fund LP
PC
H3/PR
No
0
1.18
1.18
Yes
0
50
60
50 *
11
4
35
staff written interest to
Y
Center
257
Area
develop housing.
The current owner of the
Newport
David
property has expressed to City
44201137
OG
CO-G
No
0
1.21
1.21
N/A
0
50
60
60
18
6
36
Y
Center
339
Michael Ellis
staff written interest
Area
develop housing.
The current owner of the
Newport
property has expressed to City
442 161 06
Llc
OR
CO-R
No
0
0.33
0.33
No
0
50
15
15
5
2
8
Y
Center
340
staff written interest to allow
Area
housing.
The current owner of the
T Y
Newport
property has expressed to City
44216107
NEWPORT
OR
CO-R
No
0
0.20
0.20
No
0
50
9
9
3
1
5
Y
Center
341
staff written interest to allow
LLC
Area
housing.
The current owner of the
EASTLUND
Newport
property has expressed to City
442 091 01
PROPERTIES
OR
CO-R
No
0
0.44
0.44
No
0
50
22
22
7
2
13
Y
Center
346
staff written interest to allow
LLC
Area
housing.
The current owner of the
TRAIL ASSET
Newport
property has expressed to City
442 091 08
MANAGEME
OR
CO-R
No
0
0.39
0.39
No
0
50
19
19
6
2
11
Y
Center
347
staff written interest to allow
NT LLC
Area
housing.
The current owner of the
EASTLUND
Newport
property has expressed to City
442 091 02
PROPERTIES
OR
CO-R
No
0
0.25
0.25
No
0
50
12
12
4
1
7
Y
Center
348
staff written interest to allow
LLC
Area
housing.
SAN MIGUEL
The current owner of the
Newport
PLAZA
to City
property has expressedto
442 091 15
OR
CO-R
No
0
3.54
3.54
No
0
50
177
177
53
18
106
Y
Center
349
OWNERS
staff written interest allow
ASSN
housing.
Area
The current owner of the
BURNHAM
property has expressed to City
Newport
44209104
OR
CO-R
No
0
0.38
0.38
No
0
50
19
19
6
2
11
Y
Center
350
SCOTT T TR
staff written interest to allow
housing.
Area
ZIA TRUST
This property was identified
INC TR THE
as a possible redevelopment
Newport
442 091 03
BENJAMIN
OR
CO-R
No
0
0.36
0.36
No
0
50
18
18
5
2
11
opportunity with the
Center
351
KRAUT
adjoining property owners
Area
SURVIVORS
expressing interest.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-78
2Ciryryty of Newport Beach
01
Table B-20: Newport Center Sites Inventory
Existing
Density (Du/Ac)
Potentia
Assumed Net Unit Yield
General
5th
Gross
HCD
I
Parcel
Existing
Plan
Vacancy
Cycle
Existing
Acreag
Buildable
Sizing
Existing
Rezoned
Rezoned
Assumed
Low/
Existing Use and Explanation
Letter
Focus
Inventory
Number
Owner
Zoning
Units
Acreage
Zone
Density
Net Yield
Very
Mod
Above
of Propensity
Interest?
Area
/Map ID
Land
Site?
a
Criteria?
Unit
Mod
Use
Density
(Assumed)
Yield
Low
This property was identified
1333
as a possible redevelopment
Newport
442 091 07
AVOCADO
OR
CO-R
No
0
0.13
0.13
No
0
50
7
7
2
1
4
opportunity with the
Center
352
LLC
adjoining property owners
Area
expressing interest.
The current owner of the
Newport
Golf Realty
property has expressed to City
44201152
PC
PR
No
0
0.84
0.84
No
0
50
25
25
8
3
14
Y
Center
353
Fund
staff written interest to allow
Area
housing.
The current owner of the
Golf Realty
property has expressed to City
Newport
442 011 52
Fund
PC
PR
No
0
.0.72
0.72
No
0
50
25
25
8
3
14
staff written interest to allow
Y
Center
354
Area
housing.
NEWPORT
The current owner of the
BEACH
property has expressed to City
Newport
44209106
OR
CO-R
No
0
0.32
0.32
No
0
50
16
16
5
2
9
Y
Center
345
ATHLETIC
staff written interest to allow
Area
CLUB LLC
housing.
City of
Planned relocation of Police
Newport
442 261 07
Newport
PF
PF
No
0
3.99
3.99
Yes
0
50
199
199
60
20
119
and Fire Station will make
Center
362
Beach
property available.
Area
Orange
The current owner of the
Newport
County
property has expressed to City
44201422
PC
PF
No
0
2.43
2.43
Yes
0
50
121
121
36
12
73
Center
368
Transit
staff the desire to allow
Area
District
housing or other uses.
The current owner of the
Golf Realty
MU
property has expressed to City
Newport
44201165
PC
No
0
1.72
1.72
Yes
0
50
86
25 *
6
2
17
Y
Center
240
Fund
H3/PR
staff written interest to allow
Area
housing.
Newport Center Total Acreage Development Potential:
7,852 units
The city is aware of a
Auto Spa Of
Pipeline
459 123 41
RM
RM
No
0
0.27
0.27
No
8
0
0
6
0
0
6
development proposal on this
245
Corona Del
Project
site.
Vivante
The city is aware of a
Pipeline
442 261 17
Newport
PC
MU-H3
No
0
2.91
2.91
N/A
0
0
90
0
0
90
development proposal on this
258
Project
Center
I
I
I
I
I
I
I
I
I
I
site.
Newport Center Pipeline Project Total:
96 units
*Please Note — these net unit totals have been manually manipulated to accurately reflect development interest
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-79
City of Newport Beach
2021-2029 HOUSING ELEMENT
^oyote Canyon Area
The Coyote Canyon focus area is in the northeastern part of the City. Currently, the City is in ongoing
communication with a developer, Tait and Associates, that has expressed written and verbal interest in
developing 34 acres of the focus area at 60 du/acre. The property owner, the County of Orange, has
expressed interest written interest in housing development and they have entered into an option
agreement with the developer to plan and develop the property
Environmental Constraints
Tait has extensive experience in the development of large projects adjacent to, or on top of former landfill
sites. They have developed a core competency and expertise in this area and were selected by the County
of Orange in large part because of this expertise. In summary, there are approximately 34 acres of non -
landfill "terra -firma" area within the 375 acres that are suitable and feasible for structural and residential
development. With thoughtful engineering and environmental planning, these portions of the site would
be considered ideal for residential development. In addition to those 34 acres, there are another
approximately 34.5 acres of area where the debris + landfill -cap depth is low enough (less than 25') that
it would be feasible and economical to use proven and previously used techniques to remove and re-
locate debris and build residential on terra -firma land below. As with all development around former
landfill sites, there are extensive processes and mitigation measures that must be taken to ensure safety.
While siting buildings atop a landfill includes structural and environmental constraints, Tait is an industry
leader in developing more productive uses on and around closed landfills. Tait believes both the structural
and environmental constraints can be overcome with proven previously used techniques. Two
opportunities exist with the property. First is residential development atop the landfill itself. Sizable
portions of the closed landfill have shallow depths (i.e., less than 25 feet) that can be excavated to a solid
substrate that could then accommodate residential construction. This area may be up to 34.5 acres in
size. The second opportunity on the County -owned parcel is an approximately 34-acre portions adjacent
to the landfill that is not subject to the environmental constraints of the landfill itself. These portions of
are considered an ideal opportunity for future residential development. Either location would include
methane mitigation systems ensuring the health and safety of future residents.
Developer Interest
The City has received specific outreach for two parcels, both of which are reflected within this inventory.
Of primary note is the closed Coyote Canyon landfill and adjacent areas. The parcel is owned by the County
of Orange (County) who has entered into an agreement with Tait and Associates (Tait) for the future
development. Both Tait and the County have expressed interest in developing the site with affordable and
market rate housing. Tait has recently communicated an interest to develop 34-acres of the site at a
density of 60 du/acre and at a 75 percent redevelopment rate.
Of secondary note is the approximately 28-acre property across Newport Coast Drive with a development
proposal for 10 units. Less than one acre of this property is expected to develop with housing. The site is
presently developed with a private school and the school is interested in developing low-cost housing for
a portion of its workforce.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-80
City of Newport Beach
2021-2029 HOUSING ELEMENT
Sites Inventory Information
Although the parcels within the Sites Inventory have the capacity to accommodate 2,630 units of
development (at an assumed unit yield of 60 du/ac), an assumption of approximately 75% redevelopment
has been applied considering developer interest and agreements. Therefore, the assumed buildout is
projected at 1,530 units, 383 of which are projected to develop for low and very low-income households.
An extensive analysis of site feasibility and site level due diligence has occurred on the site in consideration
of the current environmental constraints. An extensive effort to identify the actual feasible area of
development potential. As shown in the figure below, extensive site analysis has identified the acreage
on the site that has the most appropriate conditions for residential development.
The analysis has concluded that the assumed acreage with development potential represents the most
feasible opportunity for residential development. The identified site acreage suitable for residential
development, therefore, is an accurate representation of site development potential.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-81
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-21 below displays the capacity and opportunity in this Focus Area which can help accommodate
the City's RHNA allocation. Figure B-7 below maps the portion of the property within Coyote Canyon
which can help accommodate the City's RHNA allocation.
Table B-21: Coyote Canyon Environs - Redevelopment Analysis
Net Units
Feasible
Assumed
Above
Low Very Low
Moderate
Total
Acreage
Density
Moderate
34acres
60 du/ac
383 units
153 units
995 units
1,530 units
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-82
--rA
,4
1
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-22: Coyote Canyon Sites Inventory
Existing
Density (Du/Ac)
Assumed Net Unit Yield
General
5th
HCD
Potential
Existing Use and
Letter
Parcel
Existing
Existing
Gross
Buildable
Sizing
Existing
Rezoned
Assumed
Low/
Focus
Inventory
Number (s)
Owner
Zoning
Plan
Vacancy
Cycle
Units
Acreage
Acreage
Criteria
Zone
Density
Rezoned
Net Yield
Very
Mod
Above
Explanation of
Interest
Area
/Map ID
Land
Site?
Unit Yield
Mod
Propensity
?
Use
7
Density
(Assumed)
Low
The City is aware of a
development proposal on
120 571 12
County
this site. Details on the
478 032 10
PF
PF
Yes
0
341.93
44
No
0
60
2,640
2,640
660
264
1,676
development proposals
Canyon,
131
Orange
are provided in the
etc.
section above.
The current owner of the
SCHOOL
property has expressed to
Coyote
478 031 56
SAGE
PC
PR
No
0
28.41
28.41
N/A
0
60
20
20
5
2
13
Y
Canyon,
336
City staff written interest
HILL
to allow housing.
etc.
477 261
0
PC
MU-
No
0
5.16822
5.168229
N/A
0
0
0
76
0
0
76
The city is aware of a
Pipeline
265
54
W3
9152
152
development proposal
Project
on this site.
Coyote Canyon Total Acreage Development Potential:
2,736 units
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-84
City of Newport Beach
2021-2029 HOUSING ELEMENT
Banning Ranch Area
In the development of adequate sites to accommodate the City's 2021-2029 RHNA growth need, the City
of Newport Beach believes Banning Ranch is a viable opportunity for future residential development as
evidenced by prior development submittals, pre -zoning of the area and consistent General Plan land use
policies. Upon review of this opportunity, multiple agencies at the State of California expressed concerns
about the viability of future residential in the area. In response to this, the Banning Ranch Focus Area is
not used to accommodate any portion the City's 2021-2029 RHNA growth need. The City's 2021-2029
RHNA will be accommodated through analysis of the other Focus Areas identified in this Housing Element.
Banning Ranch is therefore an additional policy option the City desires to preserve, as it is consistent with
existing land use policy in the Newport Beach General Plan. Units assigned to the Banning Ranch Focus
Area are not used to accommodate any portion of the 61" cycle RHNA; however, to the extent the City is
successful in creating housing opportunities at Banning Ranch, those opportunities may be used to satisfy
a portion of the City's 61" cycle RHNA need.
The approximately 527-acre Banning Ranch Focus Area is inclusive of the 401-acre Banning Ranch
property and has been identified in prior planning periods to accommodate future housing needs. Specific
to the Banning Ranch property, the site has been the subject of environmental review by the City of
Newport Beach. Consistent with the City of Newport Beach General Plan,
The Banning Ranch site is designated OS(RV), Open Space/Residential Village, which establishes Open
Space as the Primary Use and Residential Village as the Alternative Use. The General Plan Land Use
Element specifies that if the property is not acquired for open space within a time period and pursuant to
terms agreed to by both the City and property owner, the property could be developed as a Residential
Village containing a mix of housing types, limited supporting retail, visitor accommodations, a school, and
active community parklands with a majority of the property preserved as open space. The General Plan
identifies the maximum intensity of development allowed on the property to include up to 1,375 dwelling
units (du), 75,000 square feet (sf) of retail commercial uses oriented to serve the needs of local and nearby
residents, and 75 hotel rooms in a small boutique hotel or other type of overnight visitor accommodation.
The Newport Beach Banning Ranch Project and Program EIR were approved by the City during the 5tn
RHNA cycle. The active oilfield with surface and subsurface oil production facilities was proposed for
development consistent with the allowable land uses and development intensity set forth in the Newport
Beach General Plan.
Banning Ranch is in the coastal zone and the project approved by the City of Newport Beach required
approval by the California Coastal Commission. In 2016, the Coastal Commission staff recommended
approval of a modified project subject to multiple conditions of approval. Approximately 19.7 acres of the
site (non-contiguous) were identified by Coastal Commission staff for development noting that the
developable land was outside of mapped constraints. Mapped constraints included biological and cultural
resources. Staff recommended approval of the project as conditioned to include oil well abandonment
and clean-up to the appropriate levels with habitat restoration, protection of all sensitive resources both
biological and cultural, development of water quality improvements, and the residential areas connected
with a road with all infrastructure and utilities outside of the mapped constraints, and vehicular access
Appendix B: Sites Analysis (September 2022 Final Housing Element) 13-85
City of Newport Beach
2021-2029 HOUSING ELEMENT
limited to 17th Street. Staff also recommended that 329 acres be dedicated to open space and habitat
restoration.
The project applicant and the Coastal Commission could not reach agreement on the Coastal Commission
staffs revised development proposal including the conditions of approval and the Coastal Commission
denied the project in September 2016. The property owner was not provided the ability to adequately
rebut these presumptions that ultimately led to the denial of the project. The complete extent of those
resource constraints and the extent that development buffers were necessary was not fully vetted at the
time the project was denied. While the City supports conservation of the site, the City also believes more
land can be determined free of environmental constraints allowing residential development. For this
reason, the City is assuming that 30 acres within the Banning Ranch Focus Area can be developed for
housing.
The Coastal Act allows for the resolution of conflicts between competing priorities. The State is in a
housing crisis and the Coastal Act encourages housing development, including affordable housing, when
not subject to hazards. The Coastal Act also requires development to avoid and mitigate environmental
impacts. These two seemingly conflicting goals can be balanced in ways that provides for both housing
production and sensitive resource protection. Any housing development will mitigate impacts to sensitive
resources leading to further restoration of nearby degraded resources in the area.
Additionally, the Coastal Act promotes maximum access to the coast for all Californians and development
of Banning Ranch will provide significant enhancements to access in an environmentally sensitive way
while assisting the City to meet environmental justice principles. Ultimately the City believes future
opportunities exist for housing development on the Banning Ranch.
The property owner is negotiating the possible sale of the property to the Trust for Public Lands for
conservation. However, while significant funds have been pledged, a significant gap in funds to acquire
the site remains. If retained as open space, the General Plan Land Use Element specifies that the Primary
Open Space land use alternative include consolidation of oil operations; restoration of wetlands; the
provision of nature education and interpretative facilities and an active park containing playfields and
other facilities to serve residents of adjoining neighborhoods. Under both the Open Space and Residential
Village land use designations, the Orange County Master Plan of Arterial Highways identifies roadways
through the property extending from Pacific Coast Highway to 17th Street.
The property owner has expressed a desire to pursue development of the site with housing and other
community -serving uses if the site is not acquired for public use. The value of the development
opportunities will assist with the consolidation of the oil drilling operations and site remediation. Based
on City staff understanding of the previous development proposal, the Banning Ranch property,
consultations with the property owner, the site has the potential to feasibly accommodate a minimum of
1,475 units of development on approximately 30 acres of the considerably larger property. The assumed
buildout is therefore projected at 1,475 units, 443 of which are projected to develop for low and very low-
income households.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-86
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-23 below displays the capacity and opportunity for Banning Ranch which illustrates the assumed
development potential but does not assume accommodation of the City's 2021-2029 RHNA growth need.
Figure B-8 below maps Banning Ranch.
Table B-23: Banning Ranch Environs - Redevelopment Analysis
Feasible
Assumed
Net Units
Above
Acreage
Density
Low Very Low
Moderate
Total
Moderate
30 acres
50 du/ac
443 units
148 units
884 units
1,475 units
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-87
City of Newport Beach
2021-2029 HOUSING ELEMENT
Figure B-8: Banning Ranch Area — Sites Inventory
_k
Appendix B: Sites Analysis (September 2022 Final Housing Element)
r.
Y • � ..kLl/
Site Inventory:
Banning Ranch Area
LEGEND
City Boundary
Sth Cycle Sltes
Pipeline Projects
. Opportunity Sites
Key Map
h eet
NORTH 0 500 1.000
B-88
City of Newport Beach
2021-2029 HOUSING ELEMENT
Table B-24: Banning Ranch Sites Inventory
Density (Du/Ac)
Assumed
Assumed Net Unit Yield
Parcel
Existing
Existing General
5th
Existing
Gross
Buildable
HCD Sizing
Potential
Existing Use and
Letter
Focus
Inventory/Map
Existing
Rezoned
Low/
Vacancy
Cycle
Rezoned Unit
Above
Explanation of
Number
Owner
Zoning
Plan Land Use
Units
Acreage
Acreage
Criteria?
Zone
Density
Net Yield
Very
Moderate
Interest?
Area
ID
Site?
Yield
Moderate
Propensity
Density
(Assumed)
Low
The Banning Ranch area
is currently vacant land
within the City's sphere
of influence and has
previously received a
Newport
development proposal.
114 170
Beach
PF
PF
Yes
0.00
130.87
130.87
No
0.00
0.00
0.00
383
115
38
230
As described in Section
Banning
110.00
72
Ranch
Cherokee
4, the City will work with
the property owner and
local developers to
pursue housing
development on this
site.
The Banning Ranch area
is currently vacant land
within the City's sphere
of influence and has
previously received a
Newport
development proposal.
114 170
Beach
PC
PR
Yes
0.00
74.64
74.64
No
0.00
0.00
0.00
218
66
22
130
As described in Section
Banning
111.00
52
Ranch
Cherokee
4, the City will work with
the property owner and
local developers to
pursue housing
development on this
site.
The Banning Ranch area
is currently vacant land
within the City's sphere
of influence and has
previously received a
Newport
development proposal.
114 170
Beach
PI
PI
Yes
0.00
65.05
65.05
No
0.00
0.00
0.00
190
57
19
114
As described in Section
Banning
112.00
50
Ranch
Cherokee
4, the City will work with
the property owner and
local developers to
pursue housing
development on this
site.
The Banning Ranch area
is currently vacant land
Newport
within the City's sphere
114 170
Beach
PI
PI
Yes
0.00
74.64
74.64
No
0.00
0.00
0.00
149
45
15
89
of influence and has
Banning
111.00
52
Ranch
Cherokee
previously received a
development proposal.
As described in Section
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-89
City of Newport Beach
2021-2029 HOUSING ELEMENT
Density (Du/Ac)
Assumed
Assumed Net Unit Yield
Parcel
Existing
Existing General
5th
Existing
Gross
Buildable
HCD Sizing
Potential
Existing Use and
Letter
Focus
Inventory/Map
Existing
Rezoned
Low/
Vacancy
Cycle
Rezoned Unit
Above
Explanation of
Number
Owner
Zoning
Plan Land Use
Units
Acreage
Acreage
Criteria?
Zone
Density
Net Yield
Very
Moderate
Interest?
Area
ID
Site?
Yield
Moderate
Propensity
Density
(Assumed)
Low
4, the City will work with
the property owner and
local developers to
pursue housing
development on this
site.
The Banning Ranch area
is currently vacant land
within the City's sphere
of influence and has
previously received a
Newport
development proposal.
114 170
Beach
PC
CO-R
Yes
0.00
44.78
44.78
No
0.00
0.00
0.00
131
39
13
79
As described in Section
Banning
114.00
83
Ranch
Cherokee
4, the City will work with
the property owner and
local developers to
pursue housing
development on this
site.
The Banning Ranch area
is currently vacant land
within the City's sphere
of influence and has
previously received a
United
development proposal.
114 170
States Of
PC
CO-R
Yes
0.00
41.20
41.20
No
0.00
0.00
0.00
121
36
12
73
As described in Section
Banning
115.00
71
Ranch
America
4, the City will work with
the property owner and
local developers to
pursue housing
development on this
site.
The Banning Ranch area
is currently vacant land
within the City's sphere
of influence and has
previously received a
United
development proposal.
114 170
States Of
OR
CO-R
Yes
0.00
19.35
19.35
No
0.00
0.00
0.00
57
17
6
34
As described in Section
Banning
116.00
76
Ranch
America
4, the City will work with
the property owner and
local developers to
pursue housing
development on this
site.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-90
City of Newport Beach
2021-2029 HOUSING ELEMENT
Density (Du/Ac)
Assumed
Assumed Net Unit Yield
Parcel
Existing
Existing General
5th
Existing
Gross
Buildable
HCD Sizing
Potential
Existing Use and
Letter
Focus
Inventory/Map
Existing
Rezoned
Low/
Vacancy
Cycle
Rezoned Unit
Above
Explanation of
Number
Owner
Zoning
Plan Land Use
Units
Acreage
Acreage
Criteria?
Zone
Density
Net Yield
Very
Moderate
Interest?
Area
ID
Site?
Yield
Moderate
Propensity
Density
(Assumed)
Low
The Banning Ranch area
is currently vacant land
within the City's sphere
of influence and has
previously received a
development proposal.
NO AP #
#N/A
OR
CO-R
Yes
0.00
15.76
15.76
No
0.00
0.00
0.00
46
14
5
27
As described in Section
Banning
117.00
Ranch
4, the City will work with
the property owner and
local developers to
pursue housing
development on this
site.
The Banning Ranch area
is currently vacant land
within the City's sphere
of influence and has
previously received a
United
development proposal.
114 170
States Of
PC
CR
Yes
0.00
14.32
14.32
No
0.00
0.00
0.00
42
13
4
25
As described in Section
Banning
118.00
74
Ranch
America
4, the City will work with
the property owner and
local developers to
pursue housing
development on this
site.
The Banning Ranch area
is currently vacant land
within the City's sphere
of influence and has
previously received a
United
development proposal.
114 170
States Of
PC
CR
Yes
0.00
11.48
11.48
No
0.00
0.00
0.00
34
10
3
21
As described in Section
Banning
120.00
78
Ranch
America
4, the City will work with
the property owner and
local developers to
pursue housing
development on this
site.
The Banning Ranch area
is currently vacant land
within the City's sphere
CHEROKEE
of influence and has
424041
NEWPORT
PR
PR
Yes
0.00
10.81
10.81
No
0.00
0.00
0.00
32
9
3
20
previously received a
Banning
121.00
04
BEACH
Ranch
development proposal.
LLC
As described in Section
4, the City will work with
the property owner and
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-91
City of Newport Beach
2021-2029 HOUSING ELEMENT
Density (Du/Ac)
Assumed
Assumed Net Unit Yield
Parcel
Existing
Existing General
5th
Existing
Gross
Buildable
HCD Sizing
Potential
Existing Use and
Letter
Focus
Inventory/Map
Existing
Rezoned
Low/
Vacancy
Cycle
Rezoned Unit
Above
Explanation of
Number
Owner
Zoning
Plan Land Use
Units
Acreage
Acreage
Criteria?
Zone
Density
Net Yield
Very
Moderate
Interest?
Area
ID
Site?
Yield
Moderate
Propensity
Density
(Assumed)
Low
local developers to
pursue housing
development on this
site.
The Banning Ranch area
is currently vacant land
within the City's sphere
of influence and has
previously received a
Newport
development proposal.
114 170
Beach
OR
CO-R
Yes
0.00
6.52
6.52
Yes
0.00
0.00
0.00
19
6
2
11
As described in Section
Banning
122.00
43
Ranch
Cherokee
4, the City will work with
the property owner and
local developers to
pursue housing
development on this
site.
The Banning Ranch area
is currently vacant land
within the City's sphere
of influence and has
previously received a
United
development proposal.
114 170
States Of
OR
CO-R
Yes
0.00
5.79
5.79
Yes
0.00
0.00
0.00
17
5
2
10
As described in Section
Banning
123.00
65
Ranch
America
4, the City will work with
the property owner and
local developers to
pursue housing
development on this
site.
The Banning Ranch area
is currently vacant land
within the City's sphere
of influence and has
previously received a
City Of
development proposal.
114 170
Newport
PC
CO-M
Yes
0.00
3.86
3.86
Yes
0.00
0.00
0.00
11
3
1
7
As described in Section
Banning
124.00
80
Ranch
Beach
4, the City will work with
the property owner and
local developers to
pursue housing
development on this
site.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-92
City of Newport Beach
2021-2029 HOUSING ELEMENT
Density (Du/Ac)
Assumed
Assumed Net Unit Yield
Parcel
Existing
Existing General
5th
Existing
Gross
Buildable
HCD Sizing
Potential
Existing Use and
Letter
Focus
Inventory/Map
Existing
Rezoned
Low/
Vacancy
Cycle
Rezoned Unit
Above
Explanation of
Number
Owner
Zoning
Plan Land Use
Units
Acreage
Acreage
Criteria?
Zone
Density
Net Yield
Very
Moderate
Interest?
Area
ID
Site?
Yield
Moderate
Propensity
Density
(Assumed)
Low
The Banning Ranch area
is currently vacant land
within the City's sphere
of influence and has
previously received a
Newport
development proposal.
114 170
Beach
PC
COW
Yes
0.00
0.37
0.37
No
0.00
0.00
0.00
1
0
0
1
As described in Section
Banning
126.00
24
Ranch
Cherokee
4, the City will work with
the property owner and
local developers to
pursue housing
development on this
site.
The Banning Ranch area
is currently vacant land
within the City's sphere
of influence and has
previously received a
City Of
development proposal.
114 170
Newport
PC
CO-M
Yes
0.00
5.33
5.33
N/A
0.00
0.00
0.00
16
5
2
9
As described in Section
Banning
127.00
81
Ranch
Beach
4, the City will work with
the property owner and
local developers to
pursue housing
development on this
site.
The Banning Ranch area
is currently vacant land
within the City's sphere
of influence and has
previously received a
Newport
development proposal.
114170
Beach
PC
COW
Yes
0.00
0.21
0.21
N/A
0.00
0.00
0.00
1
0
0
1
As described in Section
Banning
128.00
75
Ranch
Cherokee
4, the City will work with
the property owner and
local developers to
pursue housing
development on this
site.
The Banning Ranch area
is currently vacant land
within the City's sphere
Newport
of influence and has
114170
Beach
PC
CO-R
Yes
0.00
1.10
1.10
N/A
0.00
0.00
0.00
3
1
0
2
previously received a
Banning
129.00
49
Ranch
Cherokee
development proposal.
As described in Section
4, the City will work with
the property owner and
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-93
City of Newport Beach
2021-2029 HOUSING ELEMENT
Density (Du/Ac)
Assumed
Assumed Net Unit Yield
Parcel
Existing
Existing General
5th
Existing
Gross
Buildable
HCD Sizing
Potential
Existing Use and
Letter
Focus
Inventory/Map
Existing
Rezoned
Low/
Vacancy
Cycle
Rezoned Unit
Above
Explanation of
Number
Owner
Zoning
Plan Land Use
Units
Acreage
Acreage
Criteria?
Zone
Density
Net Yield
Very
Moderate
Interest?
Area
ID
Site?
Yield
Moderate
Propensity
Density
(Assumed)
Low
local developers to
pursue housing
development on this
site.
The Banning Ranch area
is currently vacant land
within the City's sphere
of influence and has
previously received a
Orange
development proposal.
114 170
County
PC
CO-R
Yes
0.00
1.49
1.49
N/A
0.00
0.00
0.00
4
1
0
3
As described in Section
Banning
130.00
66
Ranch
Flood
4, the City will work with
the property owner and
local developers to
pursue housing
development on this
site.
Banning
Ranch Total Development Potential:
1,475
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-94
City of Newport Beach
2021-2029 HOUSING ELEMENT
Attachment B-1: Completed Projects of Mixed Densities
Project Name
Description
Affordable
Component
Affordability Confirmation
Additional Justification Project Provides
Uptown
Summary: The total Uptown Newport Master Plan
The total Uptown
Affordable housing
Phase 1A completed February 2020.
• Realistic Capacity of Airport Area density. Airport Area
Newport
approval consists of redevelopment of a 438,127 square
Newport Master Plan
covenant recorded
allows minimum density of 30 du/ac and maximum of 50
Summary and
foot industrial complex into 1,244 residential units,
development requires
requiring affordability for a
du/ac. Actual project density equates to 54 du/ac.
Phase 1A One
11,500 square feet of neighborhood serving retail area,
a minimum of 102
term of 55 years.
Uptown
and development of two acres of public parks on a 25
very low-income
• Suitability of Nonvacant Sites: Demonstrates nonvacant
Newport
acre site.
units.
sites are viable for redevelopment into higher density
Apartments
Phase 1A development resulted in the demolition and
Phase 1A
residential and mixed -use developments. Existing uses
(APN 445 134 08
redevelopment of an existing single -story, 126,675
development includes
consisted of existing single -story, 126,675 square foot office
and 09)
square foot office building into two new apartment
91 very low-income
building.
buildings totaling 462 units and approximately 10,700
units.
• Airport Area Desirability
square feet of retail floor area.
- o
Project Approvals and Status: The zoning entitlements
-
and EIR for the Uptown Newport Master Plan project
!pqp '
were approved on February 26, 2013. On January 14,
2016, the Minor Site Development review for Phase 1_
`
was approved. Phase 1 was completed in February'il
I'
2020.
!
Density: Excluding the two acre parks, the overall
project results in an effective density of approximately
54 units per acre, which includes 322 density bonus
units.
Phase 1A development consists of 4.63 acres, resulting
in an effective density of 100 units per acre.
}} .
■ . - - F I
aka
Approved Height Limit: The maximum height for low-
rise and mid -rise buildings is 75 feet. The maximum
.a
building eight for high-rise portions of building is 150
feet.
Phase 1 development measure 66 feet in height
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-95
City of Newport Beach
2021-202° uOUSING ELEMENT
Project Name
Description
Affordable
Affordability Confirmation
Additional Justification Project Provides
Component
Ebbtide
Summary: The project involved the redevelopment of a
None, but relocation
N/A
Construction completed in
• Suitability of Nonvacant Sites: Demonstrates nonvacant
73-space residential mobile home park with a new 81-
benefits provided to
December 2017.
sites are viable for redevelopment. Existing uses consisted
(APN 424 131
unit detached condominiums on a 4.7 acre site.
displace mobile home
of a 73-space residential mobile home park.
27)
Project Approvals and Status: A Tentative Tract Map,
residents.
• West Newport Mesa Desirability
Planned Development Permit, Traffic Study and
Mitigated Negative Declaration. The project was
approved by the Planning Commission on August 6,
2015.
Density: 17 du/ac. The maximum allowed density is 18
Il'
du/ ac.
Iry
Approved Height Limit: Approx. 38 feet
iiiin
Lido Villas
Summary: The project involved demolition of a three-
None
N/A
Construction completed in
• Suitability of Nonvacant Sites: Demonstrates nonvacant
story 32,469-square-foot commercial building and single-
December 2019.
sites are viable for redevelopment. Existing uses consisted
(APN 423 112
story, 8,961-square-foot church and construction of 23
of a three-story 32,469-square-foot commercial building
05)
townhouse style multi -family dwelling units on a 1.2 acre
and single -story, 8,961-square-foot church.
site in the coastal zone.
• Lot Consolidation The subject property consisted of 6 legal
Project Approvals and Status: A General Plan
lots .
Amendment, Coastal Land Use Plan Amendment, Zoning
Code Amendment, Site Development Plan Review,
Tentative Tract Map and Mitigated Negative Declaration.
The project was approved by the California Coastal
Commission on October 9,2014.
I
Density: 19 du/ac proposed and maximum allowable.
r�rm�l
Approved Height Limit: 35 feet
-
Villas Fashion
Summary: The project involved the redevelopment of a
105 moderate-
Affordable housing
Construction completed 2017.
• Suitability of Nonvacant Sites: Demonstrates nonvacant
Island
five -building office complex with a 524-unit apartment
income rental units
covenant recorded
sites are viable for redevelopment. Existing uses consisted
complex on a 14.4-acre site.
provided at an off -site
requiring affordability fora
of a five office buildings ranging in height from 2 to 3 story.
(APN 442 261
location.
term of 30 years.
• Newport Center Desirability
03)
Project Approvals and Status: Master Plan Review
approved on November 3, 2014
administratively. Construction completed 2017.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-96
City of Newport Beach
2021-202° uOUSING ELEMENT
Project Name
Description
Affordable
Component
Affordability Confirmation
Additional Justification Project Provides
Density: 36 du/ac proposed and maximum allowable
Approved Height Limit: 65 feet
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-97
City of Newport Beach
2021-2029 HOUSING ELEMENT
Attachment B-2: Pending Projects - Anticipated Completion in 6th Cycle
Project
Name
Description
Affordable
Component
Affordability
Confirmation
Additional Justification Project Provides
Uptown
Summary: Development of 60 residential condominium units on a
None- Addressed in
None -Addressed in Phase
Under review and approvals
• Realistic Capacity of Airport Area density. Airport Area allows
Newport
1.06 acre portion of the Uptown Newport Master Plan. Plans are
Phase 1A
1A
anticipated in early 2021.
minimum density of 30 du/ac and maximum of 50 du/ac. Actual
Residences
currently in process.
project density equates to 56.60 du/ac. Part of the overall Uptown
Phase 1C
Newport Master Plan that has an overall density of 54 du/ac.
Details
• Suitability of Nonvacant Sites: Demonstrates nonvacant sites are
Project Approvals and Status: The zoning entitlements and EIR for
viable for redevelopment into higher density residential and mixed-
(APN 445
the Uptown Newport Master Plan project were approved on
use developments. Existing uses consisted of existing single -story,
134 17)
February 26, 2013. The application for this PhaselC is in process.
126,675 square foot office building.
• Airport Area Desirability
Density: 56.60 units per acre
,r ter„
7
�t 1
Approved Height Limit: Proposed and allowed height is 75 feet.
# ■� ■i' ql�i iii�
Newport
Summary: Project would result in the mixed -use redevelopment
Above -moderate
If affordable units
Pending project. Applicant is
. Lot Consolidation of 6 individual lots (ranging in size from 0.44-4.37
Village
of approximately 9.4 acres currently comprised of six underlying
income; however,
provided, an Affordable
redesigning project to add
acres) into a larger development site
Mixed -use
parcels that will be consolidated into two parcels on the north and
applicant is
Housing Implementation
more density, including
• Realistic Capacity of Mixed -Use Mariner's Mile zoning district, which
south sides of West Coast Highway. The Project s North Parcel is
considering
Plan will be required and
affordable units and
allows for up to 26.7 units per. Actual project density equates to 20
(The
approximately 5.3 acres and the Projects South Parcel is
amending project to
affordability covenant
maximize density bonus
du/ac on North Parcel.
Projects
approximately 4.1 acres. The Project consists of 14 residential
include 9 very low-
recorded.
allowances, and to make the
• Suitability of Nonvacant Sites: Demonstrates nonvacant sites are
North Parcel
condominium units on the South Parcel and 108 apartment units
income units and take
project eligible for Housing
viable for redevelopment into higher density mixed -use
p g y
is
on the North Parcel; 128,640 square feet (sf) of nonresidential
advantage of a
Accountability Act (HAA)
development. Existing uses consist of older office buildings and large
p g g g
approximate
floor area (including 96,905 sf of existing and new office, 19,820 sf
density bonus.
protections and expediate
parking lots currently utilized for vehicle sales.
ly 5.3 acres
of boat and vehicle sales, and 11,915 sf of existing and new
the review process.
. Mariners Mile Desirability
and located
at 2000-
retail/food service uses); surface, subterranean, and structured
2244 West
parking; a new pedestrian promenade along the waterfront;
Coast
public open space areas; landscaping; a new bulkhead/seawall
-
Highway.
and reinforcement of existing portions of bulkhead/seawall; and
0.
The Project's
marina improvements.
South Parcel
Project Approvals and Status:
is
A Site Development Review to allow for construction of
approximate
development, and Tentative Tract Map to consolidate parcel and
ly 4.1 acres
create condominiums. Application is currently incomplete and
and located
applicant has indicated they will redesign to add more density,
at 2001-2241
including affordable units.
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-98
City of Newport Beach
2021-2029 HOUSING ELEMENT
Project
Name
Description
Affordable
Component
Affordability
Confirmation
Additional Justification Project Provides
West Coast
Density: Current application would result in a density of 3.42 du/
Highway)
ac on south parcel and 20.33 du/ac on north parcel.
f
Pending redesigned project would result in density of 8.9 du/ ac
_ r
on south parcel and a net density of 26.5 du/ac on north parcel.
The net density does not include the 20 percent density increase
n.
(33 units) that is allowed by the State Bonus Density law and the
Newport Beach Municipal Code in exchange for the 5-percent or
9 units set aside for affordable housing. With density bonus, the
effective density on south parcel is 33 du/ac
Approved Height Limit:
Base height limit is 26 feet flat roof/31 feet sloping roof; increases
up to 35 feet flat roof/40 feet sloping roof.
1300 Bristol
Summary: Demolition of a two-story, 33,9292-square-foot office
169 market -rate and
The approved Affordable
Application under review.
• Realistic Capacity of Airport Area density. Airport Area allows
Apartment
building and redevelopment with a new 193-unit apartment complex
24 low-income units.
Housing Implementation
minimum density of 30 du/ac and maximum of 50 du/ac. Actual
Project
on a 1.97 acre site. The proposed units consist of 77 base units, 77
Plan (AHIP) will require
project density equates to 98 du/ac. Without density bonus or
transfer of development units, and a density bonus of 39 units.
the recordation of an
transfer of development rights, based density is 40 du/acre.
affordable housing
covenant.
• Suitability of Nonvacant Sites: Demonstrates nonvacant sites are
Project Approvals and Status: The project applications include a site
viable for redevelopment into higher density residential and mixed -
development review, transfer of development rights (77 unit
use developments. Existing use consists of two-story, 33,9292-
transfer), density bonus and affordable housing implementation
square -foot office building.
plan. Applied for in June of 2021 and in process.
• Airport Area Desirability
Density:
• 98 du/ac total project
• 40 du/ac base project (no transfer or density bonus)".
Proposed Height Limit: 80 feet
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-99
City of Newport Beach
2021-2029 HOUSING ELEMENT
Attachment 13-3: Recently Approved Projects — Completion Anticipated in 6th Cycle Planning Period
Project Name
Description
Affordable Component
Affordability Confirmation
Anticipated Availability in Planning
Period
Additional Justification Project Provides
Newport
Summary: The project would result in consolidation and
The residential
The approved
Highly motivated developer in full
• Lot Consolidation of smaller individual lots into larger
Airport Village
redevelopment of 15 lots totaling 16.46-acres of existing
development shall include
development agreement
ownership of property. Zoning in place to
development site
nonresidential property for mixed -use development. More specifically,
affordable housing as
and adopted Newport
accommodate the density and height of
. Realistic Capacity of Airport Area density. Airport Area
(Northerly
the development would consist of two Planning Areas (PA1 and PA2).
follows: a minimum of 5%
Airport Planned
residential development. Environmental
allows minimum density of 30 du/ac and maximum of 50
portion of the
PA1 is 7.14 acres and would allow for the development of up to 444
of units for very -low
Community require the
clearance prepared and adopted in the
du/ac. Actual project density equates to 46 du/ac (69
Campus Tract,
dwelling units (329 base units and 115 density bonus units) and 94,583
income households (16
minimum levels of
form of an Addendum to the Program
du/ac with density bonus).
generally
square feet of nonresidential floor area (i.e., retail, office, and other
units), or a minimum of
affordability to be
Environmental Impact Report to the 2006
. Suitability of Nonvacant Sites: Demonstrates nonvacant
bounded Birch
airport supporting uses). PA2 would consist of 9.32 acres and would
10% of units for low-
provided.
General Plan Update and Supplemental
sites are viable for redevelopment into higher density
Street, Campus
allow for the development of up to 202,989 square feet of
income households (32
Environmental Impact Report to the 2014
residential and mixed -use developments. Existing uses
Drive,
nonresidential floor area.
units), or a minimum 10%
update to the Land Use Element of the
consist of older office buildings, vehicle rental facilities,
MacArthur
of units for moderate-
General Plan.
retail uses, and restaurants.
Blvd. and the
income households 32
(
Airport Area Desirability
extension of
Project Approvals and Status: A General Plan Amendment to allow for
units) within a common-
Corinthian
mixed -use development, Planned Community Development Plan (PC-
interest development.
p
z
j
Way)
60) to establish the zoning and development standards for the site,
and a Development Agreement providing vested development rights
j s
in exchange for public benefits. The project was approved by City
Y �A
Council on September 22, 2020.
Density: Planning Area 1 is 7.14 acres, to which the construction of
329 units would have an effective density of 46 units per acre. With
the requested density bonus, the 493 total units would result in an
N, I41
effective density of 69 units per acre.
Approved Height Limit: Within PA1, residential or mixed -use
structures are permitted a height of 85 feet.
Residences at
Summary: Project would result in the redevelopment of an existing
Of the 312 rental units,
The approved Affordable
Recent project approval in place.
. Suitability of Nonvacant Sites: Demonstrates ability to
4400 Von
surface parking area with
five percent of the base
Housing Implementation
develop underutilized parking lot.
Karman
a 312-unit apartment building units atop an 825-space parking
units, or 13 units, will be
Plan (AHIP) and
• Realistic Capacity of Airport Area density. Airport Area
structure, an approximately one -acre public park, and a 284-space
affordable and restricted
development agreement
allows minimum density of 30 du/ac and maximum of 50
free-standing parking structure to replace parking displaced by the
to very low-income
for the project will require
du/ac. Actual project density equates to 44 du/ac (53
residential building and park.
households for 55 years
the recordation of an
du/ac with density bonus).
and the remaining 299
affordable housing
0 Airport Area Desirability
Project Approvals and Status: A Site Development Review to allow
units will be market -rate
covenant.
for construction of development, Planned Community
rentals.
Development Plan Amendment (PC-15) to establish residential
overlay zone and development standards for the site, and a
Development Agreement providing vested development rights in
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-100
City of Newport Beach
2021-2029 HOUSING ELEMENT
�- .emu. _-���"`�'`• - -
Project Name
Description
Affordable Component
Affordability Confirmation
Anticipated Availability in Planning
Period
Additional Justification Project Provides
exchange for public benefits. Lot Line Adjustment to adjust
underlying parcels, and Affordable Housing Implementation Plan
establishing the density bonus, incentives, waivers, and
affordability requirements. The City Council approved the project
p.
on February 9, 2021.
.. .
Density: The project has a net developable residential area of 5.9
0
+�
acres, which includes the project site of 4.51 acres and the free-
«
standing parking area of 1.39 acres. The net density of the project
is 44 units per acre. The net density does not include the 20
o 7- °"°`
percent density increase (52 units) that is allowed by the State
Bonus Density law and the Newport Beach Municipal Code in
��• ." ....,
exchange for the 5-percent or 13 units set aside for affordable
housing. Altogether, the project has an overall density of 53 units
per net acre.
Approved Height Limit: 71-foot height limit
West Coast
Summary: The project would result in the redevelopment of a
Three of the 36 residential
The approved Affordable
Project approval in place.
. Lot Consolidation of 5 smaller individual lots (ranging in
Highway
vehicle sales office with a mixed -use development consisting of 36
units would be reserved
Housing Implementation
size from 0.05-0.49 acres) into a larger development site
Mixed -Use
units and a 5,096 square foot office.
for very low-income
Plan (AHIP) will require the
. Realistic Capacity of Mixed -Use Mariner's Mile zoning
households.
recordation of an
district, which allows for up to 26.7 units per. Actual
(2510 West
Project Approvals and Status: A Site Development Review and
affordable housing
project density equates to 36 du/ac utilizing density bonus
Coast
Coastal Development Permit to allow for construction of
covenant.
(base units equates to 26 units per acre).
Highway)
development, Tentative Parcel Map to consolidate the underlying
. Suitability of Nonvacant Sites: Demonstrates nonvacant
parcels, and Affordable Housing Implementation Plan establishing
sites are viable for redevelopment into higher density
the density bonus, incentives, waivers, and affordability
mixed -use development. Existing uses consist of older
requirements. The City Council approved the project on July 27,
office buildings and large parking lots currently utilized for
2021.
vehicle sales.
Density: The site is 0.98 acres, to which the construction of base 26
• Mariners Mile Desirability
units and 10 density bonus units results in an effective density of
36 unit per acre (26 units per acre is maximum 26.7 units per acre
is maximum allowable density in MU-MM zoning district applicable
•„
to subject lot).
Approved Height Limit: 35 feet utilizing density bonus
-
development standard waiver allowance.
A71
1
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-101
City of Newport Beach
2021-2029 HOUSING ELEMENT
Project Name
Description
Affordable Component
Affordability Confirmation
Anticipated Availability in Planning
Period
Additional Justification Project Provides
Newport
Summary: The project would redevelop an existing 58,277-square-foot
Consistent with the
The approved Affordable
Project approval. Plans are in plan check
Crossings
commercial center known as MacArthur Square with a mixed -use
affordable housing
Housing Implementation
with permits expected later early 2022.
development consisting of 350 residential dwelling units, 7,500 square
requirements of the
Plan (AHIP) will require the
(1660 Dove St)
feet of commercial floor area, and a 0.5-acre public park.
Residential Overlay, 30
recordation of an
percent of the project's
Project Approvals and Status: A Site Development review to allow
base apartment units (78
affordable housing
construction of the development, a Lot Line Adjustment to reconfigure
units) would be set aside as
covenant.
the three underlying lots, and Affordable Housing Implementation Plan
affordable unitsto low-
establishing the density bonus, incentives, waivers, and affordability
income
requirements. The project was approved by the Planning Commission
households. Of the 78;
.
on February 21, 2019.
affordable units provided,
X-
52 units would be set
ti
Density: Net acres is 5.19 acres. The project has a base density of 50
aside for households'
units per net acre (259 units) which is consistent with a maximum of
earning 60 percent or less
,
50 du/acre allowance by this policy. This base density does not
of the area median
include the 35- percent density bonus of 91 units that is allowed by
incomel for a minimum
• Lot Consolidation The subject property is a pentagonal -
the Newport Place Planned Community and State Bonus Density law
term of 55 years. The
shape site and consists of three contiguous parcels. The
in exchange for the 30-percent or 78 units set aside for affordable
remaining 26 affordable
lot line adjustment allows the reconfiguration of the
housing. Altogether, the project has an effective density of 67 units
units would be set aside
underlying parcels to create a 0.5-acre parcel (Parcel 2) to be
per net acre.
for households earning 80
deeded to the City for public park use consistent with
percent or less of the area
General Plan requirements, a 0.11-acre parcel (Parcel 3)
median income for a
for public parking for park use and emergency vehicle
Approved Height Limit: 78 feet utilizing density bonus
minimum term of 30
access for the mixed -use development, and 5.08-acre
developments standard waiver (base height limit is 55 feet with
years.
parcel (Parcel 1) for the mixed -use development.
height increases permitted through site development review).
• Realistic Capacity of Airport Area density. Airport Area
allows minimum density of 30 du/ac and maximum of 50
du/ac. Actual project density equates to 67 du/ac (50
du/ac excluding density bonus).
• Suitability of Nonvacant Sites: Demonstrates nonvacant
sites are viable for redevelopment into higher density
mixed -use development. Existing uses consist an eight
building shopping center built in 1974. Tenants included
retail stores, professional offices, and restaurants.
• Airport Area Desirability
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-102
City of Newport Beach
2021-2029 HOUSING ELEMENT
Project Name
Description
Affordable Component
Affordability Confirmation
Anticipated Availability in Planning
Period
Additional Justification Project Provides
Residences at
Summary: Project would result in the redevelopment of an existing
All unit would be above-
NA
Project approval in place.
Newport
car wash with a new 28 residential condominium development.
moderate income.
Center
Development Agreement
Project Approvals and Status: General Plan Amendment to change
includes payment of $2.5
r
(150 Newport
land use designation to Multiple Residential (RM), Site
million public benefit fee,
Center Drive)
Development Review to allow for construction of development,
of which $325,000 would
_
•�..,;,
Planned CommunityDevelopment Plan to establish development
p p
be reserved for affordable
standards for the site, a Tentative Tract Map to establish
housing and $150,000
Y n L7�—
condominiums, and Development Agreement. The City Council
reserved to fund services
r
approved the project on October 12, 2021.
for those experiencing
'�-
Density: 1.26 acre site, resulting in a density of 23 units per acre.
homelessness.
Residential was not previously allowed on the site.
• Suitability of Nonvacant Sites: Demonstrates nonvacant
sites are viable for redevelopment into medium density
Approved Height Limit: 53 feet high with additional height (60
residential development. Existing use consists of a
feet) for rooftop appurtenances
successful car wash. However, residential allowance in
desirable area incentives the redevelopment of the site.
• Newport Center Desirability
Uptown
Summary: Development of 30 residential condominium units on a
None- Addressed in Phase
None- Addressed in Phase
Entitlements approved. Construction is
Newport
p
1.52 acre portion of the Uptown Newport Master Plan.
p p p
1A
1A
anticipated in 2022.
• Realistic Capacity of Airport Area density. Airport Area
Residences
allows minimum density of 30 du/ac and maximum of 50
Phase 1B
du/ac. Actual project density equates to 19.71 du/ac. Part
Details
Project Approvals and Status: The zoning entitlements and EIR for the
of the overall Uptown Newport Master Plan that has an
Newport Master Plan project were approved on February 26,
overall density of 54 du/ac.
(APUptown
445 134
2013. On October 22, 2020, 2016, the Minor Site Development review
• Suitability of Nonvacant Sites: Demonstrates nonvacant
17)
7)
for Phase 16 was approved. Construction is anticipated in 2022.
sites are viable for redevelopment into higher density
residential and mixed -use developments. Existing uses
consisted of existing single -story, 126,675 square foot
Density: 19.71 du/ac (Within the MU-H2 designation applicable to the
office building.
site, density is limited to a maximum of 50 unit and minimum of 30
• Airport Area Desirability
units per acre.)
Approved Height Limit: 63 feet proposed, 75 feet allowed
_
Appendix B: Sites Analysis (September 2022 Final Housing Element) B-103
City of Newport Beach
2021-2029 HOUSING ELEMENT
Section 65583 of the Government Code sates that, "the local government shall make diligent effort to
achieve public participation of all economic segments of the community in the development of the
housing element, and the program shall describe this effort." Meaningful community participation is also
required in connection with the City's Assessment of Fair Housing (AFH). A summary of citizen
participation is provided below.
As part of the 6th Cycle Housing Element Update process, Newport Beach has conducted extensive public
outreach activities beginning in 2019. In October 2019, the City launched Newport Together, a Listen &
Learn process to guide and inform a future General Plan Update. The goal of the Listen & Learn was to
hear from a broad spectrum of community members on community values, assess the current General
Plan Vision, and provide recommendations for a future General Plan Update. Newport Together was
guided by the General Plan Update Steering Committee, a body appointed by City Council to oversee
the Listen and Learn process. The following series of Community Workshops occurred in each of the
Newport Beach Council Districts:
• November 12, 2019 from 6 — 8 p.m. at 161h Street Recreation Center —District 2
• November 14, 2019 from 6 — 8 p.m. Back Bay Science Center — District 3
• November 20, 2019 from 6 — 8 p.m. Newport Coast Community Center — District 7
• November 21, 2019 from 6 — 8 p.m. OASIS Senior Center — District 6
• December 3, 2019 from 6 — 8 p.m. Central Library's Friend Meeting Room — District 5
• December 11, 2019 from 6 — 8 p.m. Bonita Creek Community Center - District 4
• December 12, 2019 from 6 — 8 p.m. Marina Park Community Center — District 1
Beginning in 2020 the City began additional focused discussion for the 6th Cycle Housing Element Update.
These recent outreach efforts included Community Workshops, Digital Engagement, Planning Commission
Study Sessions, Housing Element Advisory Committee Meetings, digital media, and noticed Public
Hearings. Project materials, including summaries from community workshops and public meetings,
notices, and draft public review documents are available on the City's website:
https://www.newporttogether.com/housing.
Outreach for the 6th Cycle Housing Element to the Newport Beach community, includes the following
actions:
• Community Workshop #1 — The City conducted a virtual community workshop on October 20,
2020. Advertising for the workshop included emailing the City's list serve, posting on social media,
creating an item on the City's calendar, newspaper ads, water bill notices, and announcing the
event on the project website. The recorded workshop is available for viewing on the workshop's
webpage at https://www.newporttogether.com/virtual workshop. The 82 workshop participants
were provided with an overview of the Housing Element Update process, community and housing
characteristics, and also participated in engagement activities. Takeaways from the workshop
include the following:
Appendix C: Summary of Community Outreach (September 2022 Final Housing Element) C-1
City of Newport Beach
2021-2029 HOUSING ELEMENT
o Many believe Newport Beach has opportunities to overcome housing challenges in
communities where density may be increased and through a mixture of housing types
that meets the needs of many different family types and income levels;
o Traffic impacts and parking are important issues to be addressed along with housing;
o Different densities are suitable in different areas of the City;
o And, some people are opposed to the development of more housing.
• Community Workshop #2 and #3 — The City conducted a second and third community workshop
on November 161" and 171", 2020. Advertising for the workshop included emails out to the City's
distribution list, social media posts, creating an item on the City's calendar, newspaper ads, water
bill notices, and announcing the event on the project website. The recorded workshop is available
for viewing on the workshop's webpage at https://www.newporttogether.com/housing-
suitability. The workshop included an ice breaker that asked participants to guess the density of
various housing types. The activity's goal was to have participants think about density and to
associate density numbers with housing projects in Newport Beach. Participants could submit
comments and questions via the Zoom chat box in the first half of the workshop. In the second
half, during the public comment section, participants could use the "raise hand" function to
indicate that they would like to speak verbally, and project staff would then unmute their
microphone. Each participant was allotted three minutes to ask questions or provide comments.
Participants were also able to submit comments via the chat box. A primary objective of the
workshop was allowing participants opportunities to comment on the housing suitability analysis
for focus areas in the City. Participants were asked to consider if focus areas were suitable for
housing development and if there were challenges and opportunities associated with these
specific areas. Attendance for the part 1 and part 2 of the workshop was as follows:
o Part 1: 61 participants (4 called in and 57 participated on the web)
o Part 2: 55 participants (1 called in and 54 participated on the web)
• Community Workshop #4 — The City conducted a fourth community workshop on March 22 nd,
2021. Advertising for the workshop included emails out to the City's distribution list, social media
posts, creating an item on the City's calendar, newspaper ads, water bill notices, and announcing
the event on the project website. The recorded workshop is available for viewing on the
workshop's webpage at https://www.newporttogether.com/housing-element-initial-draft. The
workshop provided an introduction to the initial draft and provided opportunities for the public
to provide questions and comments.
• Community Workshop #5 — The City conducted a fifth community workshop on June 21" , 2021.
Advertising for the workshop included emails out to the City's distribution list, social media posts,
creating an item on the City's calendar, newspaper ads, water bill notices, and announcing the
event on the project website. The recorded workshop is available for viewing on the workshop's
webpage at https://www.newporttogether.com. The workshop provided an overview of
inclusionary housing, accessory dwelling units, and housing overlays. Staff also introduced a
Appendix C: Summary of Community Outreach (September 2022 Final Housing Element) C-2
City of Newport Beach
2021-2029 HOUSING ELEMENT
revised housing production scenario that would be shared with City Council for feedback the
following night.
• Property Owner Outreach — The City provided direct contact to all property owners with sites
identified in the draft Sites Inventory. There were two rounds of mailers that were sent out to
registered owners of properties. In instances where a property owner expressed disinterest in
participating, those sites were removed from consideration.
• Planning Commission Study Session —The City held a Planning Commission Study Session on
March 22nd, 2021. During the study session, the project team provided a presentation with an
overview of the Public Review Draft Housing Element and Housing Element update process to
date. Community members had the opportunity to give public comments.
• City Council Study Sessions —The City held nine City Council Study Sessions on April 27tn, June 8tn
June 22nd, July 13tn, September 14tn (inclusionary), October 26tn, November 16tn, 2021, and
January 25tn, and April 261n, 2022 to discuss the draft Housing Element, the City Council review
draft RHNA accommodation scenarios and provided input and direction in consideration of
community comments received.
• Housing Element Update Advisory Committee (HEUAC) Meetings — The City established a
Housing Element Update Advisory Committee to:
o Ensure there is sufficient public outreach and stakeholder input regarding the update to
the Housing, Land Use, and Circulation Elements of the Newport Beach General Plan and
any other Elements deemed necessary.
o Review responses to the Request for Proposal for services to update the Housing, Land
Use, Circulation, and other Elements deemed necessary.
o Make recommendations to the City Council regarding the selection of consultants to
assist in the update of the Housing, Land Use, and other Elements deemed necessary.
o Provide guidance to City staff and the consultant through the outreach process.
o Provide guidance to City staff, and the consultant, on goals and policies related to the
update of the Housing, Land Use, and any other Elements deemed necessary by the
Committee or City Council.
o Make other recommendations to the City Council regarding the update of the General
Plan, as necessary.
The HEUAC meeting agendas, minutes, and videos are available on the City's webpage at:
https://ecros.newportbeachca.gov/Web/Browse.aspx?startid=2503780&cnb=BoardsCommissio
ns. Nine Newport Beach residents were appointed by the Mayor and Confirmed by the City
Council to be part of the committee.
• Housing Element Update Website —A website was developed for public consumption and can be
accessed at https://www.newporttogether.com/housing. The website provided relevant
Appendix C: Summary of Community Outreach (September 2022 Final Housing Element) C-3
City of Newport Beach
2021-2029 HOUSING ELEMENT
information about the update process, key features of the housing element, project timeline and
a calendar of events for outreach activities. The website also provided a link to the community
survey tool, past recorded meetings and summaries, as well as the contact information of the City
for residents and community members to send additional comments or request additional
information.
• Targeted Outreach —From the time the City kicked off an update of the General Plan in 2019,
there has been an extensive broad -sweeping outreach and engagement effort. To get the whole
community involved, the City published materials in the local newspaper (The Daily Pilot),
provided inserts in utility bill mailers, posted on social media, distributed flyers, and relied upon
word-of-mouth through City council announcements and neighborhood conversations. As part
of the analysis of Affirmatively Furthering Fair Housing, the City conducted a variety of informal
meetings with internal city staff and stakeholders to provide anecdotal evidence supporting the
requisite analysis contained in Chapter 3 of this Housing Element.
• Planning Commission Public Hearing —On December 9, 2021, the City held a duly noticed Public
Hearing to recommend adoption of the Housing Element to the City Council. The Planning
Commission received public comments, made findings pursuant to CEQA and adopted Resolution
PC2021-034 recommending adoption of the General Plan Amendment No. GP2021-005 for the
2021 6th Cycle Housing Element.
• City Council Public Hearing —On February 8, 2022, the City held a duly noticed Public Hearing to
adopt of the Housing Element to the City Council. The City Council received public comments,
made findings pursuant to CEQA and adopted Resolution No. 2022-14 adopting the General Plan
Amendment No. GP2021-005 for the 2021 6th Cycle Housing Element.
For all community engagement events, staff contacts in Spanish were provided to community
members who required language assistance. The City's website provided links for assistance to
those needing Spanish language services. No Spanish translation services requests were made by
the public at any Workshop, Study Session or community activity.
In addition, a centralized website (www.NewportTogether.com) was created to act as an
accessible, interactive landing point for all those interested in learning more about the City's
efforts. It is important to know that contact information was provided in case there is any trouble
reviewing the information or translation services were required. Hard copies of draft Housing
Element updates were also made available at City Hall for review for those who may not have
digital access capabilities.
Newport Beach has been named a "deaf -friendly city" and Deaf, hard -of -hearing, and non-English
speakers now have access to tablets that allow them to connect to interpreters who help translate
information regarding city services at libraries, City Hall, and other facilities.
Appendix C: Summary of Community Outreach (September 2022 Final Housing Element) C-4
City of Newport Beach
2021-2029 HOUSING ELEMENT
S _i
The City distributed meeting flyers/event notices for all public outreach activities to a variety of
local and County services agencies, interest groups, universities, private/public services agencies,
advocacy organizations that support and advocate for extremely -low and low-income households
in Orange County. Many of these groups actively participated and provided comments at the
Workshops, HEUAC and Hearings before the Planning Commission and City Council. There
comments area summarized in the meeting summaries provided in this Appendix.
An email registration sign up was offered, that provided regular updates to local residents,
agencies and organizations who desired continued participation in the process. Registrants were
regularly informed of outreach and engagement activities throughout the planning process.
Through the City's website and the project website, interested individuals have been able to sign
up for newsletter updates and alerts about upcoming activity. In this manner, nongovernmental
organizations have been able to stay informed. In addition, workshop notices were included in
the Kennedy Commission (local nonprofit housing organization) newsletters that are sent via
electronic mail to a wide variety of housing stakeholders in the Orange County area.
At the City's Housing Element workshops, representatives of YIMBY Law, the Kennedy
Commission, and other nongovernmental organizations attended. Comments are provided during
the workshop discourse and are always included in the prepared summary for consideration as
the update continues.
Also, the Chair of the Housing Element Update Advisory Committee (HEUAC) invited Kennedy
Commission's Executive Director Cesar Covarrubias to make a presentation to the HEUAC at its
October 21, 2020 meeting.
The City has made every attempt to engage a broad cross representation of residents in the development
of housing policy. Individuals and organizations were invited to participate and comment throughout the
development of the draft Housing Element. Many of these organizations also outreached to their own
constituents informing them of the opportunity. Those invited and encouraged to participate through
the means described above and/or were active participants in the creation of the Housing Element
included:
• Kennedy Commission
• Public Law Center
• Campaign for Fair Housing
• YIMBY Law
• People for Housing
• SPON
• Jamboree Housing
• Trellis, Homeless outreach
• St. James Episcopal Church
• Serving People in Need
• Be Well Orange County
Appendix C: Summary of Community Outreach (September 2022 Final Housing Element) C-S
City of Newport Beach
2021-2029 HOUSING ELEMENT
As required by Government Code Section 65585(b)(2), all written comments regarding the Housing
Element made by the public have previously been provided to each member of the City Council.
This Appendix contains a summary of all public comments regarding the Housing Element received by
the City at scheduled public meetings, and the Appendix has been provided to the City Council.
Appendix C: Summary of Community Outreach (September 2022 Final Housing Element) C-6
City of Newport Beach
2021-2029 HOUSING ELEMENT
S _i
This section contains all the related materials from the virtual Community Workshop 1. This includes the
outreach flyer, materials provided to participants, and the workshop summary. Comments were received
in the chat box, polling questions, and open-ended questions with types responses. Video recording of
the workshop and verbal comments are available at https://www.newporttogether.com/.
Appendix C: Summary of Community Outreach (September 2022 Final Housing Element) C-7
port
ENVISIONING THE FUTURE OF HOUSING:
Housing Element Virtual Workshop Summary
ctober zo20
4
Prepared by Kearns & West
_ November 4, 2020
Envisioning the Future of Housing: Housing Element Virtual Workshop Summary 1
Introduction 3
Takeways from the Workshop 3
Project Overview 3
Public Outreach Overview 4
Virtual Workshop 1: Envisioning the Future of Housing Activities 4
Activity 1: Ice Breaker 5
Activity 2: What is your connection to Newport Beach?
5
Activity 3: How familiar are you with the term "environmental justice"? 6
Activity 4: What surprised you about the community profile? 6
Activity 5: What are creative solutions to meet our housing needs? 6
Activity 6: Envisioning a Range of Housing Alternatives
►A
Activity 7: What are the challenges to meeting our housing needs? g
`-Newport,
\\T�gether.
Envisioning the Future of Housing: Housing Element Virtual Workshop Summary 2
Introduction
The City of Newport Beach (City) has initiated a focused update to the General Plan Housing Element.
In October 2020, the project team hosted the first public workshop to review community input from
previous Listen & Learn outreach, identify the process and framework for the Housing Element,
explore housing challenges and solutions, and envision a range of housing alternatives.
Takeaways from the Workshop
The virtual workshop produced many different data points, which will be used to inform the Existing
Conditions and Visioning part of the General Plan Update process. While this document summarizes
the information collected, four key takeaways are important to note.
• Many believe Newport Beach has opportunities to overcome housing
challenges including:
o Communities where density may be increased
o A mixture of housing types that meets the needs of many different
family types and income levels
• Traffic impacts and parking are important issues to be addressed along with housing
• Different densities are suitable in different areas of the City
• Some people are opposed to the development of more housing
Additional public engagement opportunities will help the City learn more, including from people
who chose not to respond during this first workshop
Project Overview
The effort to update the City's General Plan Housing Element will enable the City to comply with
State housing law. Compliance is mandatory, although details of how the City complies is left to the
City, subject to approval by the State. This amendment will focus on housing mandates, but will also
necessarily result in amendments to the Land Use and Circulation Elements, and the incorporation
of environmental justice policies.
The Housing Element will provide for policies, programs and actions addressing existing and
projected future housing needs in the community for the 2021-2029 planning period. The Land Use
Element will need to be updated for consistency with required changes to the Housing Element to
accommodate future housing growth needs as determined by the State.
The Circulation Element will describe policies, programs, and actions that consider the implications
of future growth on the City's transportation and circulation system. The update will be evaluated
and the impacts to Level of Service (LOS) and Vehicle Miles Travelled (VMT) will be examined within
an Environmental Impact Report. This will include the incorporation of Complete Streets policies.
The Environmental Justice Element, as required by SB 1000, describes related goals, policies, and
objectives that identify "disadvantaged communities" within the area covered by the General Plan.
The environmental justice goals, policies, and objectives will identify objectives and policies (1) to
reduce the unique or compounded health risks in disadvantaged communities by means that include,
but are not limited to, the reduction of pollution exposure, including the improvement of air quality,
and the promotion of public facilities, food access, safe and sanitary homes, and physical activity, (2)
to promote civil engagement in the public decision -making process, and (3) prioritize improvements
and programs that address the needs of disadvantaged communities.
Envisioning the Future of Housing: Housing Element Virtual Workshop Summary 3
Public Outreach Overview
Public outreach is integral to each step of the process. Phase 1 Existing Conditions, Education,
and Visioning; Phase 2 Policy Development; and Phase 3 Draft Plan Development. Members of the
public may participate in workshops, activities on the project website, and in Community Advisory
Committee meetings. Phase 4 Draft & Final Plan Development/EIR/CEQA, the draft plan will be
circulated for comments, which will also be received at Planning Commission and City Council
meetings.
Virtual Workshop 1: Envisioning the Future of Housing Activities
Objectives
During the first workshop, the goals were to review input from the Listen & Learn outreach that
took place during Winter 2020, identify the process and framework for the Housing Element, and
engage and educate participants in the discussion of housing alternatives compliant with state law
and challenges presented by the State's requirements.
Date, Time, Platform, and Attendance
The meeting took place during the evening of October 20, 2020. The City chose the Zoom platform
to involve 82 unique participants.
On average, 65% percent of participants engaged in workshop activities. Those who responded
provide a preliminary understanding of the range of opinions among community members. About
35% of participants did not engage in the activities. It is difficult to infer meaning from this data
point. However, the comments typed during the workshop may explain some of the reasons for not
responding. Through additional engagement the City will deepen its understanding of participant
opinions.
Getting the Word Out
Information about the workshop was shared through the City's distribution email, on social
media platforms, as an item on the City's calendar, announced on the project website
(NewportTogether.com). A
Outreach Event Activitie and Input
The first workshop was comprised of seven activities, which included entries into the chat box,
polling questions, and open-ended questions with typed responses. Each activity is described below
along with a summary of results.
Envisioning the Future of Housing: Housing Element Virtual Workshop Summary 4
Activity 1: Ice Breaker
Using the chat box, participants were invited to introduce themselves by sharing their
neighborhood and the view from their windows. Out of 82 participants, 12 people responded.
Participants..
Corona Del Mar
Of
Newport Back Bay
Newport Crest
Newport Crest
Newport Crest
The Bluffs
Newport Back Bay
West Newport Beach
West Newport Beach
Banning Ranch
Newport Island
Trovare Community of Newport Coast
Newport Bay
Two additional participants are connected to the Airport Area. One is a business owner and the
other is a commercial property owner.
Activity 2: What is your connection to Newport Beach?
The second activity provided more information about participants. Chart 1 illustrates the breakdown
with residents being the majority.
Chart 1: Participant Connection to Newport Beach
1'd
Bus
Ow
20%
Workers
2%
Nearby
5 % Residents
61%
Residents
Envisioning the Future of Housing: Housing Element Virtual Workshop Summary 5
Activity 3: How familiar are you with the term"environmental justice"?
The State requires that local jurisdictions incorporate environmental justice policies into their General
Plans. According to the California Environmental Justice Agency',environmental justice policies "call
for fairness, regardless of race, color, national origin or income, in the development of laws and
regulations that affect every community's natural surroundings, and the places people live, work,
play and learn." Out of 27 respondents, most (37%) are somewhat familiar and a large percentage
(33%) are unfamiliar with the term. Chart 2 shows the distribution of responses.
Chart 2: Familiarity With The Term "Environmental Justice"
Somewhat Familiar
What Does This Mean?
Very Familiar
Somewhat Unfamiliar
Activity 4: What surprised you about the community profile?
i7%
The presentation included a community profile to provide participants with resident and housing
characteristics. Participants were asked what surprised them about the community profile and
they were able to type their responses. This question received 31 responses, which are included in
Appendix A: Data Summary. The following topics received comments from multiple people.
• Not a surprise: Of all participants 11 participants were not surprised by the data.
• Age: A few participants commented on age demographics, noting that more than half of
the population is 45 years or older.
• Multi -family housing: Two participants noted the proportion of multi -family housing,
which makes up more than 30% of the housing stock.
1 https://calepa.ca.gov/envjustice/
Envisioning the Future of Housing: Housing Element Virtual Workshop Summary 6
Activity 5: What are creative solutions to meet our housing needs?
Participants were asked about solutions to meet Newport Beach's housing needs. They were
encouraged to make two to three comments in the chat. This question garnered a total of 47 responses.
The full list of comments is available in Appendix A: Data Summary. The word cloud in Figure 1
illustrates the text responses. The size of the word represents the number of times it was typed by
participants. Increasing density, development in the airport area, and the use of strip commercial/
excess retail for residential development were all noted in five comments. Three comments made
note of transportation solutions, construction of accessory housing units, and additional multi -family
units. The following solutions were noted in two comments each: parking lots, mixed uses, fewer
industrial properties, Newport Center, and development in Banning Ranch.
Figure 1: Participant Responses Word Cloud
ti
Envisioning the Future of Housing: Housing Element Virtual Workshop Summary 7
Activity 6: Envisioning a Range of Housing Alternatives
In addition to solutions, participants were asked about the appropriateness of six different housing
types in five areas of the City. The map in Figure 2 shows the five areas and the questions referred
to the housing types illustrated below.
Figure 2: Housing Activity Responses
Single Family
Duplex
Townhome
Small Lots
Mid -Rise
Housing
High -Rise
Housing
vow"'Mm-
UWMEIJ
n rl
The responses presented below are a summary of responses in Chart 3.
Area 1: Duplexes are perceived as the most appropriate. Single family, small lots, townhomes, and
mid -rise also received relatively high response rates.
Area 2: Like Area 1, duplexes received a high number of responses and small lots, mid -rise, and single
family received a high response rate.
Area 3: Higher density was viewed as appropriate in Area 3, with mid -rise being the most popular
closely followed by small lots. Town -homes received several responses followed by high-rise and
duplexes.
Area 4: Mid -rise, townhomes, and high-rise are viewed as most appropriate in Area 4.
Area 5: Single family homes, with 14 responses, are seen as most appropriate in Area 5. Duplexes,
townhomes, and mid -rise also received a notable number of responses.
Envisioning the Future of Housing: Housing Element Virtual Workshop Summary 8
Chart 3: Appropriateness of Housing Type by Area
Area 1
Area 2
Area 3
Area 4
Area 5
ilex
0 5 10 15 20
Envisioning the Future of Housing: Housing Element Virtual Workshop Summary 9
Several comments were submitted in the chat during this activity. The complete chat record may
be found in Appendix B. Multiple comments addressed the following:
• Airport Area: The airport area generated three comments. One reinforced the responses
to the polling question. The other two are paraphrased below:
o Existing business invested in a business environment. There are not
sufficient pedestrian and residential amenities.
o The airport area should be thoughtfully planned with an integrated
approach, weaving together a mixed -use landscape in a manner
sensitive to existing issues.
• Area 1: Three people said that Area 1 has been developed enough, and should be an open
area, and needs remidiation.
• Banning Ranch: Four people noted that do not want housing developed in Banning Ranch.
• Do not want development: Several different comments indicate that people would have
chosen "none" if it were an option.
Activity 7: What are the challenges to meeting our housing needs?
The ability to overcome challenges is important for the development of housing units. Participants
were asked to identify one or more challenges from a list. Chart 4 illustrates responses. Of all the
choices, available land, cost of housing, and traffic impacts received the most responses.
Chart 4: Challanges to Meeting Housing Needs
9%
Approval &
9°%
Housing
Choices
12%
Parking
Impacts
4%
Local
Control
28%
Available
Land
21%
ost of
)using
17%
Traffic Impacts
Envisioning the Future of Housing: Housing Element Virtual Workshop Summary 10
ew o rt
Together.
Community Involvement Every Step of the Way
The City has initiated a focused amendment of the Newport Beach General Plan in 2020. The purpose of this
amendment is to enable the City to comply with State laws, including the State Housing Law and others relating
to transportation and environmental justice.
COMMUNITY ENGAGEMENT OPPORTUNITIES
DIGITAL COMMITTEE VIDEO
ENGAGEMENT ADVISORY MEETING WORKSHOP PRESENTATION
e 0 O
Fall 2020
Exis-Lio g �.uriuitiuns,
Education and Visioning
Housing Element
Combined Public
;;
Circulation Element
Winter 2020
Development
WEBINAR
4
L 11
How do you get involved?
The process chart below offers you a
glimpse into the many engagement
opportunities you will have to
participate in the General Plan Update
from Virtual Workshops to Planning
Commission Meetings.
Dates and times for items below will be
available through NewportTogether.com
Spring 2021
DratL eia(i Lieye,upment
Summer/ Fall 2021
4.0r a t dt r'ii lal 11-1di
Development/EIR/CEQA
PLANNING DRAFT PLAN FINAL PLAN
PLANNING DRAFT PLAN
COMMISSION EIR SLOPING DEVELOPMENT ADOPTION/
STUDY COMMISSION MEETING DEVELOPMENT EIR PUBLIC FINAL EIR
SESSION PRESENTATION /EIR REVIEW
ewport,
Together.
Housing Element Focus
..
Virtual Workshop 1 - Envis' ning
Housing Alternativ
You're invited to the f
virtual work
eries of
A^
Help Shape the Future of Housing in Newport Beach!
The City of Newport Beach has initiated a focused amendment of the Newport Beach General
Plan, including updates to the Housingand Circulation Elements to comply with State laws.
This workshop will introduce the Housing Element process and include opportunities
for you to provide input future housing alternatives in Newport Beach.
OCTOBE 20,2020
6: :30PMl
ZOOM
REGISTRATION & MORE INFO AT
WWW.NEWPORTTOGETHER.COM
Scan Me
EXISTING CONDITIONS, POLICY
DRAFT PLAN FINAL PLAN
EDUCATION AND DEVELOPMENT
DEVELOPMENT ADOPTION/CEQA
VISIONING
Fall 2020 Winter 2021
Spring 2021 Summer/Fall 2021
-.0 --0
VToearn more about Housing and RHNA head to the website
www.NewportTogether.com
City of Newport Beach
2021-2029 HOUSING ELEMENT
S -i
This section contains the summary and chat responses from the virtual Community Workshop 2/3.
Comments were received in the chat box and verbally during the meeting. Video recording of the
workshop and verbal comments are available at https://www.newporttogether.com/.
Appendix C: Summary of Community Outreach (September 2022 Final Housing Element) C-8
Newport,
Together.
Housing Suitability - Virtual Workshop
Held On: November 16 & 173 2020
Workshop Summary
Prepared by Kearns & West
December 29, 2020
Housing Suitability Virtual Workshop: Workshop Summary 1
Introduction
On November 16 and 17, 2020, the City of Newport Beach (City) hosted a Housing Suitability Virtual
Workshop to gather community input on potential housing sites and their suitability. The City chose
to host the virtual workshop in two parts to provide enough time for public input and question and
answer sessions for different areas in the City.
Part 1 (November 16) focused on the Airport Area, West Newport, and Newport Mesa. Part 2
(November 17) focused on Newport Center and Coyote Canyon. The workshop built on the community
input and exploration of housing alternatives from previous workshops. The workshop summarized
in this report focused on presenting the site feasibility analysis and the process used by the Housing
Element Update Advisory Committee to identify candidate sites for review.
Workshop Objectives
The workshop had two objectives. The first was to present the site feasibility analysis and potential
areas for candidate sites. The second objective was to allow the public to comment on this analysis
and the potential sites. A primary driver for this workshop was providing a workshop format to
allow members of the public to provide input and engage with staff in a question and answer style
meeting.
Getting the Word Out
Information about the workshop was shared through the City's email distribution list, on social
media platforms, as an item on the City's calendar, and as an announcement on the project website
(NewportTogether.com).
Newport, Together (Online Input Opportunities)
The workshop page on the Newport, Together project website includes recordings from both
workshop dates and virtual tools to gather input. The platform allows the project team to expand
input opportunities beyond the workshop dates and for participants to engage with the project
on -demand. Participants are currently able to submit geo-located comments on identified housing
sites.
Workshop Format: Date, Time, Platform, and Attendance Summary
The workshop took place during the evening of November 16 & 17, 2020. Both workshop parts
were hosted using Zoom to continue to build participant familiarity with the virtual platform and its
tools. Over the two nights, the workshop had a total of 133 registered participants and combined
attendance of 116 participants. Attendance details are below.
Part 1:
Pa rt 2:
• Total attendance of 61 participants.
• Four participants called in
• 57 web -based participants
• Total attendance of 55 participants.
• One participant called in
• 54 web -based participants
Housing Suitability Virtual Workshop: Workshop Summary 2
Activities
The workshop included an ice breaker that asked participants to guess the density of various housing
types. The activity's goal was to have participants think about density and to associate density
numbers with housing projects in Newport Beach. Response rates for the ice breaker were:
Part 1: 90 responses were submitted
Part 2: 60 responses were submitted
Input Opportunities
Participants could submit comments and questions via the Zoom chat box in the first half of the
workshop. In the second half, during the public comment section, participants could use the raise -
hand function to indicate that they would like to speak verbally and project staff would then unmute
their microphone. Each participant was allotted three minutes to ask questions or provide comments.
Participants were also able to submit comments via the chat box.
Major Themes from Public Questions and Comments
A primary objective of the workshop was allowing participants opportunities to comment on
the housing suitability analysis for focus areas in the City. Participants were asked to consider if
focus areas were suitable for housing development and if there were challenges and opportunities
associated with these specific areas.
The following section outlines the key themes and comments highlighted by participants. Themes
consider overall responses and ideas shared during the public input section for each area. Chat
responses can be found in Appendix A.
Airport Area:
• Participants expressed concern over the impact of noise levels on new housing
development. It was noted flight paths could impact development.
• It was suggested that the area could become a higher density area, but the City
should have an overall plan that incorporates services, recreation space, and
other necessary amenities for a community.
• Participants stated concerns with housing developments sitting close to or within
industrial areas that have contamination issues.
• The question was asked how the City makes sure that developments create affordability.
West Newport:
• Participants noted that housing development in the area is limited.
• Concern was expressed over the displacement of mobile homeowners.
• A potential partnership with Hoag Hospital for mixed -use development was mentioned.
• A concern was raised over the number of available sites for development and if
property owners would be open to development.
• Concern over limited parking availability for new residents with new development
was expressed.
• It was suggested Newport -Mesa Unified School District could be a partner in
workforce development.
Housing Suitability Virtual Workshop: Workshop Summary 3
Newport Mesa: Dover/Westcliff/Mariners Mile
• Some participants noted a preference for lower density housing typologies.
• Comments included concern over developer affordability with development near the
coast.
• Another concern involved property ownership interest in the development of low-
income units.
• The question was asked if there is any surplus property to considered for development.
Newport Center
• Some participants identified the possibility of high-rise development as well as
mixed -use development.
• Concern was expressed over Irvine Company property ownership development
restrictions.
• Residents who live close to Newport Center noted a request to keep existing height
restriction agreements in place at Newport Center.
• Property owners expressed interest in market -rate development.
• It was stated that amenities are essential for residents; the City needs to consider
community benefits.
• A commenter noted that placing affordable housing near Newport Center would be
ideal because of the availability of jobs.
• Questions were posed about the conversion of retail to housing with shifting trends.
Coyote Canyon
• Several participants noted there could be an opportunity for higher density units.
• Participants commented that area development would require further incorporation
of services to the area.
• Concern was expressed over environmental impacts because of the potential location
of affordable housing units near the landfill.
• Participants noted that development of the non -landfill area on the north section
could be most feasible.
• Participants noted future development needs to consider the expansion of infrastructure.
• A commenter noted that access to development might be a concern for development
north of the landfill.
Housing Suitability Virtual Workshop: Workshop Summary 4
Appendix A: Chat Responses
Nov 16 Housing Suitability Virtual Workshop Chat
From Susan Eaton : Park Newport
From Susan De Santis : Susan De Santis, Trovare in Newport Coast
From Bruce Bartram : Bruce Bartram Newport Crest
From Sam Shams : East Bluff
From Jenna Tourje, Facilitator : Thanks everyone for sharing! 'W ,
From P. Matheis : The Airport Area is, by my observations, a eclectic series of kveloped properties. Some of these
properties are significant class A properties, while others are old and dilapidated. Given the figures of about 4,800 new
dwelling units I read in the print news that NB planning officials suggest that this is not possible given self described
restrictions. Because of my experience in Newport Beach and understanding of the situa ' e the ground I dispute this
view. If I were to suggest that this housing could be meet entirely Oithin the Airport Ar he community development
people explain why this is not possible.
From Jenna Tourje, Facilitator : Thanks, P. We will incorporate your co
From David Tanner: Hi Seimone & Jim, Please provide an overview of the existing setting for the Housing Element Update
project. Include the physical and regulatory setting and the impact housing regulations have had on the buildout of the
existing General Plan. After you provide the existing setting upon buildout of the General Plan, please summarize how staff
proposes to address General Plan buildout in the Housing Element Update Project.
From P. Matheis : As I recall, on or about the 1980s/90s the permitted housing development in Area2 was downzoned in
a way that impacted about 320 dwelling units. Is this something that is being reconsidered?
From David Tanner: Please confirm (yes or no) if the existing General Plan is in compliance with state law. If no, what does
Staff propose to remedy the deficiencies and will it be a part of the Housing Element Update Project?
From David Tanner : Please provide the legislative steps the Ci has and is proposing to take relative to the Housing
Element Update Project, and the location(s) where Housing Ele nt Update information can be found (GP diagnostic
memo, communications between the City and HCD, Congresswoman Norris, SCAG, other cities and legislators, etc.).
From David Tanner: The scope of the Housing Element Project (the other Elements to be amended as part of the Project
and how staff hopes to achieve internal consistency among the Elements (example: General Plan Vision Statement)).
From David Tanner : What is Staff's strategy for meeting the HCD deadline for submittal of an adopted Housing Element
(if you feel a vote of the public to make the Housing Element Update effective is not required, please provide a detailed
explanation. If staff believes other governmental approvals are not required, (example: Coastal Commission review/
approval) please explain why.
From Nancy Scarbrough : Thi4area seems like an area that could become a higher density, but I believe the City should
have A overall plan for the area that incorporates services, recreation space and other uses that are necessary to a
community. We don't want to create an environmentally disabled area.
From David Tanner : TRis information will provide the public with a clear picture of the situation facing the City, the
challenges that lay ahead and the City's plan to address these challenges. this information should be provided to the
public prior to asking the public for recommendations.
From Susan De Santis : What is the capacity in the Airport Area for housing if developed on the available sites at 60 units
per acre?
Housing Suitability Virtual Workshop: Workshop Summary 5
From P. Matheis : In the 1990s the entitlements in Newport Center (Area 3) were reduced following a vote of the people.
Is this area being considered for future additional development?
From Allyson Presta : what is the response from property owners in the area?
From Adriana Fourcher : I am a property owner and not in favor of this.
From David Tanner: Will existing housing laws allowing ADUs impact the City Jobs Housing Balance?
From David Tanner: Will existing housing laws allowing ADUs impact the city circulation system?
From David Tanner: Will existing housing laws allowing ADUs impact emergency services and public safety?
From Susan De Santis: What is the potential for finding 100 percent affordable housing locations for a workforce housing?
From Nancy Scarbrough : Can we focus on projects that are 100% low income or very low income with a subsidy whether
in this area or another area of the city? We can't possible comply wit e state mandates if only 5% of a project is low
or very low income housing. If we allow projects with only 5% low y low income we will have to approve 40,000
(plus or minus) residential units in our city of approximately 45,0 ing residents I units
From David Tanner: How many ADUs can be constructed within the City?
From Susan De Santis : How many stories is the Uptown Newport project? How is the noise added?
From Susan De Santis : How is the noise issues addressed in Uptown Newport?
From P. Matheis : I suspect that there a number of properties in the Lity that couNhenegt this State mandate. By
focusing on the Airport Area an opportunity seems to exist to answer a good dealee.
From Adriana Fourcher : Susan - noise was not addressed. Uptown is 5 stories. is not fully occupied so there is not a
lot of information on noise compI I with Covid all air traffic is unusually low. This will change when things return
to "normal".
From David Tanner : Is there a penalty if the RHNA allocation is not met within the timeframe?
From Jonathan Langford : Do we anticipate�he 65 dB CNEL lineLanging?
From Alexis Mondares : If there is a focus of affordable density housing within the airport area, is there a concern that
clustering affordable housing within such a noisy area that others find unsuitable would be discriminatory?
From Adriana Fourcher : Jonathan - we have monitored noise levels at 4340 and the decibels range from 65 to 70.
From Adriana Fourcher : Alexis - Environmental Justice is not a term that fits in this discussion.
From P. Matheis : Should legal questions be answered by the people best suited to answer those questions?
From Susan De Santis : Can you discuss how the affordable units in the new Picerne project were created?
From Cesar Covarrubias : How will affordable housing will be incorporated into these focus areas. Density alone will not
be create affordable housing in the focus areas. What policies are we putting in place to address AH in the focus areas?
From Nancy Scarbrough : The City just approved a project in the 65 CNEL without regard for noise. They ignored the
Airport Commision recommendation.
From Adriana Fourcher : Susan - Only small # of affordable units in Picerne project. Doesn't make a dent.
From David Tanner : Housing in West Newport - What impact will the conversion of housing in west Newport and the
Airport area have on Jobs?
Housing Suitability Virtual Workshop: Workshop Summary 6
From Nancy Scarbrough : If you displace the mobile homes, which are already low income housing, will those individuals
who lose their mobile homes new housing that they can afford?
From Adriana Fourcher : Nancy - Thank you. Taxpayers don't want to bear the financial consequences if the City gets
sued. The developer fees are driving this.
From David Tanner : If we convert employment areas to housing. What steps will the City take to replace lost jobs and
create new jobs for the increase in population?
From Adriana Fourcher : David - Great question!
From P. Matheis : This area seems to have a limited payoff versus the Airport Area.
From Adriana Fourcher : Business owners don't want to be disregarded in the conversation.
From Adriana Fourcher : P. Matheis - there is no payoff, hopefully.
From David Tanner: What will the cumulative impact from RHNA (1.3 million units) have on jobs within Newport Beach?
From Charles Klobe : The pie charts shown in each slide do not reflect a no build answer,. Participants were not offered
the choice of no units. That translates to the false belief that residents agreed to some additional residential units in each
area. This does not reflect actual responses. Why is the total focus of this meeting on affordable housing to our housing
element?
From P. Matheis : This area is a significant industrial area, and I wonder if this is somethi g that needs to be maintained
for business needs in the City.
From Adriana Fourcher: Charles - Very good point.
From Charles Klobe : We have to TRY to plan. We do not have to succeed.
From David Tanner: What wi4e caulative impact from ADUs in Southern California have on jobs within the City?
From Adriana Fourcher : 4,80O units now but what is going to be later and after that. The City of Newport Beach should
combine efforts with otherrCities and fight back on RHNA allocations.
From Susan De n51a tis : How many units have already been approved that will be counted towards the RHNA allocation?
From Sam Shams : Is the plan able to assume the conversions of existing properties, or does it require open space? So can
the plan basically be that one large development becomes even bigger?
Fr atheis : I believe it is important that the City plan for this mandate. I suspect that the idea that the City simply
fail is something that will not succeed in 2020 and beyond.
rom Alexis Mondares : Adriana - the City has already appealed its RHNA allocation. However, it is unlikely that the City's
share will be reduced in a meaningful way
From Debbie Stevens: I have concerns with siting housing closer or within industrial areas that have contamination issues,
as there are such properties in this area.
From David Tanner : Staff's statement - The City has no choice but to increase density. This is not a foregone conclusion.
This is Staff's conclusion. Fact - The City Council is proceeding on a 3 pronged approach. Compliance is one. There is no
evidence to date that Compliance is feasible.
I
From Adriana Fourcher : Alexis - An appeal is the first step. The City has too much to loose to simply accept central
planning from Sacramento.
From Sam Shams : Thank you for the response!
Housing Suitability Virtual Workshop: Workshop Summary 7
From Adriana Fourcher : It seems like we are going thru an exercise but there will not be any meaningful consensus from
both residents and businesses.
From Charles Klobe : There is no stated penalty for not finding willing property owners.
From Alexis Mondares : If density housing is created in this area, I would think parking would be an e issue for new
residents.
From Allyson Presta : in this area isn't the road & track site zoned for residential?
From Sylvia Walker :Doing away with the mobile homes, which are likely affordablQ housing, to put in other housing
seems like a less than opportune way to meet RNHA goals, if that is what was sugges
From Sam Shams : I am curious if dorm rooms for coastline college would be wort1k,inking of, I am not familiar with that
college though.
From Angelica Astorga : If density housing is built they should provid a parking structure and not street parking so that
residents can park.
From P. Matheis : Is senior housing something that is considered "affordable" housi40111111
From P. Matheis : Due to the proximity to Hoag Hospital is seems like senior housing might be something to consider if it
meets the definition of affordable.
From Susan De Santis : Senior and workforce housing are both considered affordable hosing
From Adriana Fourcher: I understand the committee's role in identifying opportunity zones. that same process was used
I
a few years ago which resulted in the business park that our business is located as being marked as an "opportunity zone
for residential". Most of the building owners were not part of that discussion. We invested in a business park. We do not
believe that residential should be approved in a commercial zone, simply because it gets colored "pink" on a City map.
From David Tanner : Everyone review the State Housing and Community Development ADU handbook published in
September 2020 to learn the facts on the potential for ADUs: https://www.hcd.ca.gov/policy-research/docs/adu-ta-
handbook-final.pdf
From Adriana Fourcher : Senior housing is important.
From Charles Klobe : Anyone notice that they have not answe)rd one of Dave Tanner's questions? Why the total focus on
finding sites for affordable housing only? Our housing element includes housing needs for the entire city.
Adriana Fourcher : Housing needs for young professionals.
P. Matheis :Staff is doing a great job here.
am Angelica Astorga : Many people are commenting on affordable housing, then that is obviously an issue especially
California.
Cesar Covarrubias : The Hoag area creates a lot of service sector jobs. It will be appropriate to prioritize affordable
for the workforce and families.
From Angelica Astorga : I am a college student and we need more affordable housing, discussions around that are
extremely important, in all of my circles it is a huge problem.
From Adriana Fourcher : People commute and make their own choices based upon what things are important to them.
Irvine has lots of apartments and housing choices that is definitely more affordable than Newport Beach.
From David Tanner: Everyone, ask Staff to share the findings of the General Plan Diagnostic Memo prepared as part of the
Housing Element Update. The Memo identifies the existing deficiencies in the General Plan that must be remedied. Ask
Housing Suitability Virtual Workshop: Workshop Summary 8
Staff to discuss how these deficiencies will be remedied.
From Angelica Astorga : You want to push people out of Newport because they cannot find affordable housing? That is
classist. What about students and young people who work in Newport?
From Sylvia Walker : Irvine has an affordable housing issue.
From Angelica Astorga : Sylvia - exactly. both cities need more options.
From P. Matheis : At Dover and West Coast Hwy is an empty lot that is not painted blue. Why?
From Adriana Fourcher : Angelica - College Students can rent rooms in people's homes, share apartments, work 2 jobs,
etc. Affordable housing in Newport Beach is a different level of rent than in other Cities.
From Allyson Presta : I am an apartment complex at bayshores and pch AA
From Allyson Presta : would I be part of this area
From Adriana Fourcher : Angelica - I moved here from the Midwest right out of college and had to adjust to CA. It is
expensive here.
From Sylvia Walker : Rents in Newport Beach are not necessarily higher than rents for apartments in Irvine.
From David Tanner : Staff updated the City Councjl last week on the Housing Element Update. staff warned the City
Council that they might have to break the Housing Element Update into 2 stages. If Staff does this only a portion of the
General Plan would be updated. Staff said the cost of the total General Plan Update would increase from $1.S to $3.5
million dollars (2 EIRs and 2 General Plan amendment processes). Ask Staf to explain what they are thinking.
From Allyson Presta : not currently
From Angelica Astorga : Well I was born in California, I have lived a life of knowing how important it is to have access to
affordable housing. As a student, we do all of those things and the way wages have remained stagnant in this state and
housing costs only go up is challenging for new graduates.
r �
From Allyson Presta: that ate is rented long term
From David Tanner: Will the Housing Element Update go to a vote of the public per the City Charter? Staff does not want
to answer this question. Why? Ask Staff to explain. Op
From P. Matheis : The properties on West Coast Hwy appear to be under used retail properties.
From Adriana Fourcher: Jenna, thanks for reminding us of those slides. My recollection is someone could earn somewhere
above $50 to $60K a yeftr and qualify for affordable housing. However, there are very few units. The Picerne project stacks
the affordable units to Studio units. That might be fine for a single person but won't work for a young family.
From Allyson Presta : he rented the entire site
From Allyson Presta : russ fluters
From P. Matheis : The proximity to the water is a silent point. This speaks to the value of maximizing the development in
the Airport Area for this challenge.
From P. Matheis : Should read "Salient."
From Adriana Fourcher : Mariners Mile is very expensive property. P. Matheis there is a cost to purchasing existing
buildings in airport area and scraping the property and then building residential.
From David Tanner : The City's Local Coastal Plan prohibits impacts to coastal bluffs and blockage of ocean/harbor views
How can the City possibly make a finding that high density residential is consistent with the Local Coastal Plan?
Housing Suitability Virtual Workshop: Workshop Summary 9
From Susan De Santis : Should the City provide housing for its seniors and its essential workers?
From Cesar Covarrubias : Have surplus land sites from the City and the Special Districts been identified at opportunity
sites?
From Adriana Fourcher : Angelica, that explains why so many residents and businesses have moved out of state. It is not
because those states provide them with subsidized housing it is because the cost of development is lower, the cost of land
is lower and the government doesn't tax, tax, tax.
From David Tanner : Why is Staff been un-willing to discussing these obvious General Plan inconsistencies? These
questions have been asked since day 1.
From Adriana Fourcher: If we give CA a few more months this problem might resolve by the law of natural consequences.
The State if Broke. Businesses and residents might move which will make pr ty values decrease and increase supply.
From P. Matheis : I submit that if we take this time to properly plan for thi ate we could design something that is the
best it can be under the circumstances. I do not see a change in theilitical environment i acramento in the near term,
and it is likely this mandate will stand.
From P. Matheis : How is an area outside the City included in this plan, i.e., item 1?
From David Tanner : Seimone - provide a date certain when these questions will be answered. Quit putting this off!
From Adriana Fourcher : Seimone - the committee has been given an impossible task. The policy recommendations
unfortunately impact property owners. Again, we are in a Business Park that was colored "Pink" a few years ago based
upon some committee discussion and few community input. Now the business owners arE�all fighting residential infill
proposals. 1W
From Technical Support: www.newporttogether.com, '
From Sam Shams: This might but what are the chances of changing the city borders to get some of Costa
Mesa?
From Adriana Fourcher: Seimone - the in -fill residential project that is being proposed in our parking lot will take around
3 years to build. That is a real negative impacj to the employees and businesses. A parking lot that is common area. Think
about that. am
From Charles Klobe : The NMUSD property is prime for workforce housing. Susan DeSantis has previously offered this to
the committee. Likely nothing will come of this until the new trustees are seated. We should work toward this as it is good
for the city, good for the district and good for the NMUSD employees. I hope we pursue this in 2021.
Adriana Fourcher : Charles - Absolutely no subsidized housing units for Public Sector employees. Do not use our
dollars to pay for housing for government employees. Sorry.
From David Tanner: All A are assumed by the State to be Affordable Housing.
From Sam Shams: Does r ontrol qualify as affordable housing?
From Adriana Fourcher - good question.
From Sam Shams : ecause affordable housing options usually don't appreciate much in value relative to market
prices, and when you consider mortgage etc, it may be a better alternative for low income people to rent
From Charles Klobe : Not suggesting subsidized by the city. The idea is to take the NMUSD property and have the district
build rental housing for their new employees, The offer of this could factor into their labor negocistions
From Adriana Fourcher: Who owns the NMUSD property?
Housing Suitability Virtual Workshop: Workshop Summary 10
From Charles Klobe : spell check. Fred: I will send you the outline via email.
From Susan De Santis : How will the city and consultants use the input that you received this evening?
From Adriana Fourcher : Charles - this is Adriana. IN
From Allyson Presta : are we going to cover Newport center tonight?
From David Tanner: ADUs are considered affordable by the State - period. The state requires documentation to demonstrate
they are in fact affordable. ADUs can be a few hundred square fee to 1,200 sq. feet How will this not be affordable?
From Charles Klobe: NMUSD owns the property. Banning Ranch Conservancy would not oppose the project of workforce
housing for NMUSD employees.
From Debbie Stevens: FYI - Newport Center will be covered tomorrow nig
From Allyson Presta : thank you
From Adriana Fourcher : Charles - no workforce housing for public�service employees. That is pure socialism. The next step
will be imminent domain to take private property for public sector employee housing.
From Mary Ann Soden : How long will you be looking at input through the website. I have folks not able to attend the
workshops. Is there a deadline? 14
14
From Susan De Santis : Will the city be pursuing partnerships with Hoag and the school district as part of this process?
From Adriana Fourcher : Thank you Jenna.
From P. Matheis : Can a large developer build in one area and site the affordable units in another area of the City?
From Sam Shams: Thank you! I
From Bruce Bartram : My thanks to Staff and everyone for an interesting and informative presentation.
From Sylvia Walker: Good job by Newport Beach staff.
From Debbie Stev Nice job and thanks!
From Charles Klobe k You.
From Susan De Santis : hank you!
From Adriana Four er : Thank you.
From Kevin Martin tood job Newport team. Talk to you tomorrow!
From Mary Ann Soden : See you tomorrow. Thank you.
From Jonathan Langford : Appreciate the work.
From Allyson Presta : see you tomorrow. thank you
1+
Housing Suitability Virtual Workshop: Workshop Summary 11
Nov 17 Housing Suitability Virtual Workshop Chat
Susan Eaton: Park Newport formerly Eastbluff
Allyson Presta: Big Canyon Resident, property owner thru newport
Charles Klobe: Anyone who participated did not have the option for no housing. So the charts are skewed to give the
impression that residents wanted more housing throughout the city.
David Tanner: Hi Seimone & Jim, As a preface to public input at tonight's Housing Suitability meeting please provide
the following information in Staff's introductory remarks: 1. As professional planners, please provide an overview of
the long-term regional effects of State housing laws. Please assume for this discussion the literal interpretation of the
laws which create the potential for development of millions of Accessory Dwelling Units (ADUs) and 1.3 million additional
RHNA units (by 2029) within southern California (SCAG boundary). For example, what impacts will likely occur to the
following sectors: (beneficial impact, negative impact or no impact) a. The ability of the existing transportation systems
and urban infrastructure to accommodate the increased population. b. Jobs and employment opportunities (will people
in inland areas continue to commute long distances to Job centers or'will urban in -fill take those jobs?). c. W i I I
there be a need for additional Jobs to meet the population increase?
F
e. Social and economic impacts: i. Will there be higher or lower costs to consumgrs? ii. Will business be attracted to
or leave southern California? f. Public safety and quality of life. i.What will be the regional impact?
Based on the answers to the regional concerns in question #1, what are the potential long-term impacts to the City of
Newport Beach from housing laws and RHNA? a. Will the impacts mirror the regional impacts or will Newport Beach be
disproportionally impacted? (better or worse) b. What impact will this regional growth have on tourism within Newport
Beach? c. What impact will this regional growth have on the city's-circulation system and transportation infrastructure? d.
Would you expect the increased regional population would put pressure on John Wane Airport to expand the number
of flights beyond current limitations? e. Will there be more competition for jobs in Newport Beach as a result of regional
growth? f. If you believe increased population will increase the competition for jobs, can the City expect to get a higher
quality workforce?
i. What impact will this ave on the City of Newport Beach demographics?
ii. What sectors might benefit and wha sectors might decline?
iii. What impact will this have on wages?
g. What will be the regional impact on Newport WBeacsesh water supplies?
David Tanne Question 3 3. What are the constraints the City faces in formalizing the Housing Element Update? For
Example: a. As professional planners would you recommend the City locate housing in: (yes, no, maybe) i. Disadvantaged
rnmmi mitiac ii. Areas subject flooding iii. Areas subject to wildfire iv. Areas subject to liquefaction v. Areas subject to
vi. Under the flight path of John Wayne Airport vii. Areas subject to health hazards viii. Areas subject to
inificant earthquake hazards ix. Within or adjacent to protected biological areas x. Areas subject to high
'05 CNEL or greater) xi. Hazardous waste sites xii. Areas that do not have job opportunities for new residents
significant jobs/housing imbalance)
that would result in an unavoidable decline in emergency services/public health and safety.
David Tanner: Question 4 4. What are the consequences to the City if the RHNA housing allocations identified in the
Housing Element Update are not met? Is there a difference in the consequences between un-met affordable and market
rate units?
Answers to these 4 questions will provide the public with a clearer picture of the regional impacts facing the City. It will
provide insight if the City does nothing and the rationale behind the City's plan to address these challenges.
Charles Klobe: There is no stated penalty by the state for trying and failing to find willing landowners who want to rezone
Housing Suitability Virtual Workshop: Workshop Summary 12
their land for high density lower income housing. The city is trying through the Housing committee but they will almost
certainly fail to find landowners to rezone their property without state or federal subsidy.
Alejandra Reyes: Is Jenna breaking for anyone else or only me?
Allyson Presta: I can't hear her either
Andrew Campbell: breaking up for all
Kevin Martin: breaking up for me as well
Taylor York (Technical Support) : Apologies for the technical delays!
Allyson Presta: my site can be high rise
Mary Ann Soden: what site is that?
P. Matheis: is Fashion Island designed for additional building stock?
Sam Shams: I think we need to consider public access to the sand beaches at the dunes, I would imagine there might
be some restrictions to development to allow public access.
Charles Klobe: What percentage would you propose as affordable Allyson?
Allyson Presta: i don't know I'm not a developer
Cesar Covarrubias: Is Newport Center a mixed use zone or do you need an overlay for w development
P. Matheis: I foresee significant high-rise potential in Newport Center w%see
rrela ng ADUs in the Airport Area.
P. Matheis: Is the Fashion Island property seen as something that might ge in zoning due to changes in how
people shop?
Mary Ann Soden: An 4por lement is the impact on traffic circulation, so these two general plan updates
need to be considered at0some point together.
A4
Susan Eaton: Thank you Cesar.
Charles Klobe: No property owner has expressed any interest in developing lower income housing without City, State, or
Federal subsidy. NONE! Many owners would like to rezone their property for high density market rate apartments. The
City does not need to offer density bonuses beyond what the state requires for any area of Newport Beach. Residents will
suffer the increased traffic and drain on resources.
David Tanner: Has th*EUC determined this site is feasible for residential development?
Alejandra Reyes: Echoing a few comments (and responding to others) and as a housing researcher and UCI faculty
member, I want to highlight that there are many new state and assembly bills that do emphasize the importance of this
Housing Element update: In 2017, SB-35 created consequences for failing to meet local housing targets and AB-1397 now
requires cities and counties to ensure that proposed development sites have a demonstrated potential for development.
Since 2019, AB-686 also pushes cities to site low-income housing in high opportunity neighborhoods and grants the
California Department of Housing and Community Development increased oversight capacity. Also since 2019, SB 330
limits some jurisdictions' abilities to restrict development due to their failure to meet their RHNA goals.
David Tanner: The cost of development on this site makes this site economically infeasible.
David Tanner: Would you want your family members to live on a landfill given its environmental constraints. I see the
potential for litigation.
Sam Shams: Development of the non -landfill area here on the north section seems like the most feasible development
Housing Suitability Virtual Workshop: Workshop Summary 13
I have seen so far in the city.
Allyson Presta: i think the garbage site would be bad for health
P. Matheis: If housing can be developed on the 30 acres then why would the City not use this op p nity given the
external pressure.
Lin He: Non -landfill area makes sense as it's close to freeway etc.
David Tanner: It would make a nice site for habitat restoration/mitigation.
Nancy Scarbrough: I think the 30 available acres seems like a great place to build low and very low income homes. It
is close the freeway.
P. Matheis: My sense is that the bulk of the opportunity for development of ADUs will be in the Airport Area above
SR-73 given the cost limitations.
Charles Klobe: Nearly every single family home in Newport Beach ij&ligible to have an ADU and junior ADU.
David Tanner: High density development on the 30 acre portion of the landfill would pro de a great visual window from
the toll road to the high quality homes in the area. ,
Mary Ann Soden: To Mr. Smith's question and Mr. Barquist's comments now, the City might need to use its own land
to meet the planning goals
Sam Shams: What are those two zones on the south if the landfill zone?
P. Matheis: I do not believe that the City should reduce parkland for development.
Allyson Presta: i agree
Allyson Presta: my kids use the sports park for activities
Sam Shams: sure
David Tanner: Are they fule mod zones?
Susan Eaton: Elephant in the room - what are issues Wement
rowners to consider any level of "Affordable" Housing -
David Tanner: Why doesn't the cityItisfy the RHN with ADUs?
Debbie Stevens:The Newport Tennis Club should be considered as potentially feasible.
P. Matheis: I suspect that area 29 (fir; police station location) are potentially feas
Mary Ann Soden: Please update the maps per Larry Tucker's comments so that the folks who participate through
"Ilthe website will have the corrected maps. Thank you.
a Tourje, Facilitator: Thanks Mary Ann - we will update the maps on the website as well
P. Matheis: I believe that the preservation of the natural resources are critical to this process. While this may result in
intensification of development in other areas the City is special because of the natural resources.
Charles Klobe: Every developer may be willing to redevelop their property to market rate apartments. NO developer is
willing to redevelop without Federal, State or City subsidy any more than 5% affordable. To get to 2,400 or so affordable
they need to build 48,000 market rate apartments @ 5% which pencils according to the developers I have spoken to.
Never going to happen although the developers are drooling to build them.
David Tanner: Staff updated the City Council a week ago and said Staff was concentrating on the Housing Element.
Please clarify
Housing Suitability Virtual Workshop: Workshop Summary 14
P. Matheis: As I recall the City was considering moving the police facility to the city yard site at one point, and there
is a Newport Beach fire station relocation study that moves the Newport Center Fire Station adjacent to the OCTA bus
station.
Mary Ann Soden: How will the housing and circulation elements be harmonized given their separate committees
Brad Avery: Great resident input and effort from the CD team, many thanks! Brad
David Tanner: How can the City possible meet the Housing Element Update by October 2020.
David Tanner: Is this not piecemealing?
David Tanner: Why does the schedule not include a vote of the public per the City charter?
Sam Shams: Thank you everyone!
Debbie Stevens:Great job Jenna, Jim, Dave and Ben!
Alejandra Reyes: Thank you!
Mary Ann Soden: Thank you for this learning opportunity and input opportunity. This is very important.
Allyson Presta: Thank you so much
Susan De Santis: Thank you all. Well-done!
Housing Suitability Virtual Workshop: Workshop Summary 15
City of Newport Beach
2021-2029 HOUSING ELEMENT
This section contains the summary and chat responses from the virtual Community Workshop 4.
Comments were received in the chat box and verbally during the meeting. Video recording of the
workshop and verbal comments are available at https://www.newporttogether.com/.
Appendix C: Summary of Community Outreach (September 2022 Final Housing Element) C-9
m-m- N_� mt--
pop
ip
lots
. rl, rr ". re;
•T•r-
You are viewing Kearns& West's screen View Options
Zoom Ratio Fit to Window a
Request Remote Control
Exit
4 .r Side -by -side mode
i
IFNI
ri i f i. i 'ii'i11I,Fiiill�l!�11ioil!
;ewp.
NPPPIP
IVII El t i jenna Tourje,.
00:04:0) ... View
dam IP
Mute Stop Video E.-ticipant- Chat Share Screen Record ReactionF
Leave
Productive `"'
WE ARE HAPPY AND EXCITED YOU CAN JOIN US!
• Actively participate - we need your input!
• Be respectful
• Listen for understanding
• Share your ideas with room for others
• Respect differences
qdkshop
• Have fun!
This workshop is being recorded and will be posted on
March 22, 2021 www.NewportTogether.com
3
7
^vkshop Out'' it
1, Welcome and Introductions
2. Overview of Housing Element
Outreach Process
Components of the Housing Element
Sites Analysis/Identification
a Policy Summary
7. Future Community Engagement
March 22, 2021
Welcome Introductmions
March 22, 2021
Introductions
USING THE CHAT POD AND THE
RAISE HAND FEATURE, SHARE:
• Your name
• Name a project or place you consider
has great housing.
The facilitation team will call on 2-3
participants to share
You are viewing Kearns& West's screen View Options
Zoom Ratio Fit to Window a
Request Remote Control
Exit
4 .r Side -by -side mode
i
IFNI
ri i f i. i 'ii'i11I,Fiiill�l!�11ioil!
;ewp.
NPPPIP
IVII El t i jenna Tourje,.
00:04:0) ... View
dam IP
Mute Stop Video E.-ticipant- Chat Share Screen Record ReactionF
Leave
Virtual Workshop Goals
• Share overview of the Housing Element;
• Review components of Housing Element;
• Review and discuss summary of sites by area;
• Review and discuss policiesm
• Overview how to provide comments on draft
Housing Element
March 22, 2021 8
Overview of the Housing
Element
March 22, 2021
Ah
•
Ah ■ . . I Ah
I1) Required Element of the Newport Beach General Plan
Provides Goals, Policies, Programs, and Objectives related to housing in
CO.)** Newport Beach
Identifies projected housing growth need by income category
Requires certification by the State Department of Housing and Community
Development (HCD) for compliance with State housing laws
What is the Regional Housing Needs
Assessment (RHNA)*
• Estimate of housing growth need for the 2021-2029
• Housing growth need by income category
• Newport Beach must show capacity to accommodate future growth
Very Low Income 0 - 50% AMI 11F$0 $,500 W 11456 units T
Low Income 51— 80% AMI $51,501 $82,400 930 units
Moderate Income 81-120% AMI $82,401 $123,600 11050 units
Above Moderate Income >120% AM $123,601 >$123,601 1,409 units
6W 9=- L 8,
March 22, 2021 *Income range is based on the 2020 HUD Median Family Income (MFI) for Orange County of $103,0000.
First-time opportunities for
housing
Opportunities for families to stay
and live in the City
FMI
Ability to downsize and retire in
City
Maintains housing opportunities
for future generations
What does
housing
mean for
Examples of
qualifying
salaries in
Newport
Beach
Notes:
1. Derived from open job listings on City website
May 2017.
2. Derived from Glassdoor.
3. Derived from teacher pay scale listing on NMUSD
website.
October 20, 2020
��A
Newport Mesa Unified
School District Teacher $54,043 -
$8236893
Librarian 1
$57,179 - $80,4331
Hoag Memorial Hospital
Registered Nurse
$743880 - $8532802
Police Officer
$66,185 - $118,8721
Paralegal
$62,129 — $87,4221
New Statutory Considerations
• Many new laws related to
housing in California
• City required to comply with
all statutory provisions in law
• Affects analysis, sites
selection criteria and policy
considerations
• Monitoring, accountability
and enforcement
March 22, 2021
Outreach Process
March 22, 2021 15
Housing Element Engagement
Overview
March 22, 2021
Components of the
Housing Element
March 22, 2021
Overview of Content of Draft Housing
Element
• Section 1 - Introduction
• Section 2 - Community Profile
• Section 3 - Housing Constraints and
Resources
• Section 4 - Housing Plan
• Appendix A - Past Performance
• Appendix B - Sites Analysis
• Appendix C - Community Engagement
DRAFT
City of Newport Beach
2021-2029 HOUSING EWE"NT
March 22, 2021
Section 1 - Introduction
• Statutory Authority
• Relationship to General Plan
• Data Sources Used
• Element Organization
March 22, 2021
Section 2 - Community Profile
• Population trends
• Household characteristics
• Economic characteristics
• Housing problems
• Overcrowding
• Overpayment
• Special needs groups
• Housing stock profile
Section 2:
V
1 Y i-IKOFILE
March 22, 2021
Section 3 - Housing Constraints and
Resources
• Non -governmental constraints
• Land/construction costs
Governmental constraints *, _
• Land use controls
• Infrastructure/environmental z =�
• Fair housing analysis (AFFH)
it71;S\
• Housing resources Section 3:
HOUSING CONSTRAINTS, RESOURCES,
• Adequate sites summary AND AFFIRMATIVELY FURTHERING FAIR
HOUSING
• Financial resources
• Energy conservation
March 22, 2021
Section 4 - Housing Plan
• Overall housing goals
• Stated "ends"
• Policies
• Stated "means"
• Program actions
• Specific action(s)
• Timeline
• Responsible party
• Funding source
• Existing needs and growth need
Section 4:
HUUSiNG PLAN
March 22, 2021
Appendix A - Review of Past
Performance
• Review of 5t" cycle housing
element programs
• Assessment of progress
• Qualitative/quantitative
• Basis for 6t" cycle programs
Appendix A:
fV
PAST PERFORMANCE
March 22, 2021
Appendix B - Adequate Sites Analysis
• Detailed analysis of adequate sites
to accommodate RHNA
• Evaluation of capacity by APN
• Mapping of sites
• Statistical summary
• Discussion of feasibility and
likelihood of redevelopment
Appendix B:
March 22, 2021
Appendix C - Summary of Outreach
• Summary of all outreach efforts
• Meeting presentations, minutes and
summaries
• Demonstrates "diligent efforts" to
engage public and stakeholders
Appendix C:
i-EACH
N/
March 22, 2021
Questions ?
March 22, 2021 26
You are viewing Kearns& West's screen View Options
Zoom Ratio Fit to Window a
Request Remote Control
Exit
4 .r Side -by -side mode
i
IFNI
ri i f i. i 'ii'i11I,Fiiill�l!�11ioil!
;ewp.
NPPPIP
IVII El t i jenna Tourje,.
00:04:0) ... View
dam IP
Mute Stop Video E.-ticipant- Chat Share Screen Record ReactionF
Leave
Demonstrating Adequate
Sites
March 22, 2021 28
Demonstrating Adequate Sites
• City must demonstrate the capacity to accommodate 4,845 new
housing units for the 2021-2029 planning period
• Units Determined by the Regional Housing Needs Assessment (RHNA)
"Fair Share" Allocation
• State Department of Housing and Community Development (HCD)
• Southern California Association of Governments (SCAG)
• Sites Identification Must Consider and Variety of New Laws and
Requirements
• "No Net Loss" Provisions - identify sites above RHNA allocations
• More stringent criteria to define an adequate site
• Sites must be demonstrated as viable opportunities
• Monitoring and enforcement provisions on progress in meeting
RHNA objectives
March 22, 2021
Demonstrating Adequate Sites
Extremely Low/
Very Low
Income
1,456 units
Low Income
121 units
228 units
0 units
930 units
2,037 units
Moderate
Income
1,050 units
0 units
100 units
342 units
608 units
Above
Moderate
Income
1,409 units
Total
4,845 units
2,183 units 2,304 units
6 units 334 units
40 units 382 units
0 units 2,645 units
March 22, 2021
17,
O ^. 63'
"e e o
27
•..i "^ .o
Aw.a
rlre' O 20
Newport Beach -Ow o w s
O
tM•[•
A& ■ J Am
Ci /sue �� w` � �• >�� w t�
EL
,y
j
.;.,Cus Areas
• ., �, � is . F' .. .� � ..+.>� ,
Airport Environs
West Newport
Are of Poten .0-0— Nange
in P4pr
ADEQUATE SITE ,ACCESSORY DWELLING UNITS, AND
INCLUSIONARY HOUSING POLICIES
March 22, 2021
Demonstrating Adequate Sites
POLICY STRATEGIES:
• Demonstrates capacity to meeting need that is not accommodated
with current land use policy
• Based on Focus Areas identified
• Considers unique circumstances
• Overlay or similar rezone strategy
• Accessory Dwelling Units (ADUs)
• Inclusionary Housing
March 22, 2021
A 0
-T, r:TO-UVF.1 ir:21%4.4ti lr�-m UA ur":
41 :qFl -
r*41#
7 �11
z
4Z
nY
db
jr
77r
LN
'o.
'41L
WA 'J �� �
EPA.
AT* rtle
a
Am
Am
!T91 ura_r=
71
AT*rtj•
Am
Am
U
Ah
:. �i � i ,? ! • ,a? fi e 5r
a�
'I Fopw yy ll
• Ll •� l5 . . y Y .l _ ' ti �v y.'_ i
41
Ak
45
Cr
- L
L
' -�' *�• vv J t•
ow- _ •*�
• � k �� u� A !•�T #Its �
,'�,�+.. l � � Y� •� c r-tom•
ti }
}14-
7. a
y #����� �p, yam• I � i• 4 ; ,l' _ -�
dip)
Vp
u-if .L l
CA
16
LX L I
y�� ytop
_r: U=TOTF wl 4611144.04ti T:3�-m1•717•4T=
P �. � _ � Yam•+' ♦ � � r�. a1�
L4• + ti � � Y
a J.5 # YYF � ' �� � i ' _ � ' '•� r � S -• fry } �� •
r. .<:'a`� �� � . ._ :}M1 '• �i".-7r - v�•J v'-Y�'4: .. Syr y.
y �'A 777
+f;�f'J.r .t •yl�: �' � i +* . . 4 � . r ri:*• r'a"'i47 � -5 J:t�� 4 _
rr' Ip � •'.. � rJ .ti �'4� f f 4lp-
r'f. T
J JiJ � { • v F..� •�.� y �} JF i.
}V
Lai- �t � :. ti � '�• �'.
joy
IF -4f
it
Y J �
• S.tiL �' � F v �� K � v M1
Ly :. � a y1 � � M1 } l:� • } Y
4
1
✓ y� �� �+` + �� ��G- ice.
utivc
AT*rtj•
Ah
Am
U
Am
AT*rtj•
•
Ah •
- -
On
Fps
Li
• ;-
_ r 4
w
•- e`er �_el'_� „`�`' ��' f
M1 2 -a�•. �� �Y.•tF 1f • r F J
• • ,,,� r
How To Provide Comment
March 22, 2021
How to Submit Comments/Questions
• Please provide your comments on the initial draft no
later than April 30, 2021. A revised version is
anticipated to be available for review late Spring 2021.
• If you have any questions or to submit comments,
please reach out to City staff by emailing
GPUpdate@newportbeachca.gov.
Wrap Up Next Steps
March 22, 2021
Yolow insighk will
continue to be
used by technical team to inform
the drafting of the Housing
Element Update
March 22, 2021
Outreach Schedule
February 14
March 18
May 15
Circulation Element
Planning Commission - Review
Submit Progress Draft
Vision Workshop
Draft Circulation
Element
April 7
Housing Element to HCD
May - August
EIR Completion; Fiscal/Market
February 24
Planning Commission -
Analysis; HUEC, Planning
Virtual
Housing
Review of Draft Housing
Commissions, City Council as
Workshop
Element
neccessary
V
March 17
April 5
September/October
HEUAC Meeting
Circulation Element Workshop
- Review Draft of The
^
Planning Commission & City
Council review and adoption of
t.J
Circulation Element
iJ
Housing and Circulation Elements
February 17
March 22
April 27
HEUAC Meeting
Virtual Housing Workshop-
City
Council - Review
Review of Draft Housing
Draft Housing Element
Element
We are here
March 22, 2021 54
�f
Contact
JIM CAMPBELL,
DEPUTY DIRECTOR
P: 949-644-3210
www.NewportTogether.com
BEN
PZDEBA
SENIOR �
P:949-644-3253
gpupdate@newportbeachca.gov
March 22, 2021
Newport,
gether.
Newport,
Together.
Housing Element
Initial Draft Housing Element Workshop
March 22, 20213 6 - 8 p.m.
Workshop Chat
Prepared by Kearns & West
March 23, 2021
Housing Element - Initial Draft Housing Element Workshop 1
Housing Element - Initial Draft Housing Element Workshop
17:54:03 From Christian Mendez (K&W) Technical Support to Everyone (in Waiting Room) : Welcome to the
Newport Beach - Housing Element Workshop. We will open the meeting room at 5:55 pm, and the
workshop will begin at 6:00 pm. Thank you, and we will see you soon!
18:00:57 From Christian Mendez (K&W) Technical Support to Everyone (in Waiting Room) : Welcome to the
Newport Beach - Housing Element Workshop. We will open the meeting room at 5:55 pm, and the
workshop will begin at 6:00 pm. Thank you, and we will see you soon!
18:03:52 From Ivana Rosas (K&W) Technical Support, she/her to Everyone (in Waiting Room) : Hello everyone.
If you have any technical issues during today's webinar, please send me, Ivana Rosas, a private message
describing your issue. I will help diagnose the problem.
18:04:06 From Ivana Rosas (K&W) Technical Support, she/her to Everyone: Hello everyone. If you have any
technical issues during today's webinar, please send me, Ivana Rosas, a private message describing your
issue. I will help diagnose the problem.
18:07:44 From Ivana Rosas (K&W) Technical Support, she/her to Everyone: Hello everyone. If you have any
technical issues during today's webinar, please send me, Ivana Rosas, a private message describing your
issue. I will help diagnose the problem.
18:11:58 From Ivana Rosas (K&W) Technical Support, she/her to Everyone : You can access the chat button at
the menu of the bottom of your screen.
18:12:09 From John Loper to Everyone : John I think the Villas at Fashion Island are a great example of high
density units done very well
18:12:46 From Suzanne Gignoux to Everyone : I don't live in a unit or project. I love Newport Shores.
18:13:12 From Melanie Schlotterbeck to Everyone : Melanie Schlotterbeck (representing Olen Properties), Great
housing: San Jose
18:13:27 From Charles Klobe to Everyone: Baker Block in Costa Mesa
18:13:30 From Dorothy Kraus to Everyone: One Nautical Mile, 15th street, West Newport
18:13:55 From Sonja Trauss to Everyone: Sonja Philadelphia! Row houses, classic human scale form
18:18:39 From Susan Eaton to Everyone: Camarillo Homeless Housing Community formed at a
decommissioned military facility. It is a large group of housing with medical facilities, local
bus service, rehabilitated older units and family area in newer LEED certified housing.
It felt like Park Newport where I live and love where I live.
18:22:04 From Susan Eaton to Everyone : Camarillo is in Long Beach.
18:23:11 From Mary Ann Soden to Everyone : I wish I could stay for this entire meeting, but cannot tonight.
Here are my two cents. The plan appears to propose zoning a whopping 9,957 dwelling
units to meet the 4845 allocation. That is not in the best interest of the City. Plan definitely
needs reduction of the DU within the sight plane over Newport Center to ensure the zoning is compliant
with that municipal commitment. Consideration of housing partnerships with affordable housing
non profits to build what is needed and required, not 3217 above mod units that are not responsive
Housing Element - Initial Draft Housing Element Workshop 2
to the FHNA allocation. I'll follow up further online. Thank you.
18:24:46 From Jenna Tourje to Everyone: Thank you, Mary Ann! We are glad you could join tonight and are
looking forward to your input online
18:25:04 From Christian Mendez (K&W) Technical Support to Everyone : To find the draft Housing Element,
copy and paste this link into your browser: www.newportbeachca.gov/DraftHEUpdate
18:26:24 From Sonja Trauss to Everyone : I have q.s specifically about section 3
18:26:56 From Sonja Trauss to Everyone : Particularly about the map on page 70, figure 3-8
18:27:14 From Christian Mendez (K&W) Technical Support to Everyone: Hi Sonja, we will have an opportunity
for questions in a few minutes
18:34:14 From Christian Mendez (K&W) Technical Support to Everyone: To find the draft Housing Element,
copy and paste this link into your browser: www.newportbeachca.gov/DraftHEUpdate
18:41:09 From Christian Mendez (K&W) Technical Support to Everyone: Technical Support: Hello, everyone. If
you have any technical issues during today's workshop, please send me (Technical Support) a private
message describing your issue. I will help diagnose the problem.
18:53:50 From Herman Basmaciyan to Everyone: Herman Basmaciyan
18:54:01 From Christian Mendez (K&W) Technical Support to Everyone: To find the draft Housing Element,
copy and paste this link into your browser: www.newportbeachca.gov/DraftHEUpdate
18:54:10 From Dorothy Kraus to Everyone : Question: Does the "overlay" for Newport Mesa include Banning
Ranch? So, some of 347 low/very low, 86 mod units would be zoned on Banning Ranch? If yes,
how many? Thank you.
18:58:58 From Herman Basmaciyan to Everyone : Is my understanding correct that the City has to show the
capacity for accommodating these units, not necessarily make sure that the units are constructed?
What happens if no developer comes in to construct the units? Are there any consequences? Will
this plan require an environmental review and require that it is consistent with all other elements
of the General Plan?
19:00:27 From Herman Basmaciyan to Everyone : The preceding questions are from Herman Basmaciyan.
19:07:07 From Sonja Trauss to Everyone: RHNA is a minimum, so if Newport Beach produces more housing and
exceeds its RHNA, that's great, all the better. California has a housing shortage.
19:07:35 From John Loper to Everyone : Is there a reason why there are no plans for new housing in the Coastal
Zone? Such as the Peninsula. Are there some sites that could be redeveloped?
19:07:45 From Christian Mendez (K&W) Technical Support to Everyone: To find the draft Housing Element,
copy and paste this link into your browser: www.newportbeachca.gov/DraftHEUpdate
19:22:51 From Dorothy Kraus to Everyone: Jenna/Jim, will the City respond to each public comment submitted
regarding the Draft HE update? Thank you.
19:22:58 From Glenn Hellyer to Everyone : Thanks to staff for presenting a plan to accomplish the RHINA goals
Housing Element - Initial Draft Housing Element Workshop 3
and recognized that NB is showing good faith in providing new housing stock.
19:33:51 From Glenn Hellyer to Everyone : Again thanks to Staff for recognizing ADUs as the low hanging fruit
opportunity for increasing much needed housing stock. Why would the incentives take 2 years to
employ?
19:36:49 From karen martin to Everyone : will this recording be available on the website?
19:37:45 From Jenna Tourje to Everyone : Hi Karen - the recording will be available this week on www.
NewportTogether.com
19:37:54 From Jenna Tourje to Everyone : including a transcript of the chat as well
19:43:01 From John Loper to Everyone: would this be something as 5% very low, 5% low and 5% mod income
levels?
19:44:02 From Glenn Hellyer to Everyone : Would the Inclusionary program be voluntary with density bonus as
opposed to mandatory?
19:45:02 From John Loper to Everyone : thank you
19:47:50 From Christian Mendez (K&W) Technical Support to Everyone: To find the draft Housing Element,
copy and paste this link into your browser: www.newportbeachca.gov/DraftHEUpdate
19:48:27 From Christian Mendez (K&W) Technical Support to Everyone: To find more information on the
project, copy and paste this link into your browser: www.newporttogether.com.
19:49:05 From Charles Klobe to Everyone: The final draft will go to the City Council for a vote to submit, modify
and submit, or revisit and submit nearer to the date it is due. It takes four City Council Members to
advance this or another version. You will note that there has been no direct answer to the max possible
units question. Estimates have run over 20,000 new apartments. Newport Beach land prices do
not support single family homes or condos as affordable. This is about high density, high rise apartment
construction only. There are alternative approaches that the City has chosen not to pursue. If you think
the City should seek alternate ideas, please write to the City Council Members and ask them to slow this
process down and visit alternate ideas.
19:50:06 From Dorothy Kraus to Everyone : will we get a response from city for our comments like what's done
with either
19:50:46 From Dorothy Kraus to Everyone : Thank you.
19:51:23 From Dorothy Kraus to Everyone: will comments be made public?
19:52:11 From Dorothy Kraus to Everyone : comments in response
19:55:56 From Glenn Hellyer to Everyone : Thank you all!
19:57:10 From Susan De Santis to Everyone: Thank you!
19:57:17 From Christian Mendez (K&W) Technical Support to Everyone: To find the draft Housing Element,
copy and paste this link into your browser: www.newportbeachca.gov/DraftHEUpdate
Housing Element - Initial Draft Housing Element Workshop 4
City of Newport Beach
2021-2029 HOUSING ELEMENT
This section contains presentation from the virtual Community Workshop 5. Comments were received in
the chat box and verbally during the meeting. Video recording of the workshop and verbal comments are
available at https://www.newporttogether.com/.
Appendix C: Summary of Community Outreach (September 2022 Final Housing Element) C-10
You are viewing Kearns& West's screen View Options
Zoom Ratio Fit to Window a
Request Remote Control
Exit
4 .r Side -by -side mode
i
IFNI
ri i f i. i 'ii'i11I,Fiiill�l!�11ioil!
;ewp.
NPPPIP
IVII El t i jenna Tourje,.
00:04:0) ... View
dam IP
Mute Stop Video E.-ticipant- Chat Share Screen Record ReactionF
Leave
Accessory Dwelling Units Policies
POLICY CONSIDERATIONS:
• Current average of 21 ADUs constructed each year
• Pursue "aggressive" approach to ADU construction on
planning period
• Allows for "safe harbor" determination of affordability
Accessory Dwelling Units Policies
POLICY ACTION 1H: ACCESSORY DWELLING UNIT
CONSTRUCTION
• Public awareness campaign
• Web -based resources
• Evaluate additional incentives to encourage ADU
construction
• Evaluate permit -ready program with pre -approved plans
• Evaluate methods - 12 months
• Adopt programs - 24 months
Accessory Dwelling Units Policies
POLICY ACTION 11: ACCESSORY DWELLING UNIT MONITORING
PROGRAM
• Track progress of ADU construction in planning period
• Annual review of progress to meeting "aggressive" approach
• Adjust programs and requirements, as necessary
Accessory Dwelling Units Policies
POLICY ACTION 1J: ACCESSORY DWELLING UNITS AMENSTY
PROGRAMS
• Allow existing unpermitted ADUs to obtain permits to
legalize
• Permit, inspect and legalize existing unpermitted ADUs of
any size
• Develop program - 24 months
You are viewing Kearns& West's screen View Options
Zoom Ratio Fit to Window a
Request Remote Control
Exit
4 .r Side -by -side mode
i
IFNI
ri i f i. i 'ii'i11I,Fiiill�l!�11ioil!
;ewp.
NPPPIP
IVII El t i jenna Tourje,.
00:04:0) ... View
dam IP
Mute Stop Video E.-ticipant- Chat Share Screen Record ReactionF
Leave
Inclusionary Housing Policies
POLICY CONSIDERATIONS:
• Ability to provide opportunity for lower income units in
Newport Beach's current market
• Explore opportunities to accommodate lower income units
as a requirement for certain types of development
Inclusionary Housing Policies
POLICY ACTION 1K: INCLUSIONARY HOUSING
• Process to explore inclusionary policy
• Provides opportunities for mixed -income developments
• City of evaluate/analyze inclusionary policies/programs to
determine viability and effectiveness
• Interim requirement 15 % - 6 months
• Adopt inclusionary provisions - 24 months
City of Newport Beach
2021-2029 HOUSING ELEMENT
All recordings, agendas, and minutes for the March 22, 2021 meeting can be found on the City's website
at https://www.newportbeachca.gov/government/data-hub/agendas-minutes.
Appendix C: Summary of Community Outreach (September 2022 Final Housing Element) C-11
City of Newport Beach
2021-2029 HOUSING ELEMENT
All recordings, agendas, and minutes for City Council Study Sessions occurring on the following dates can
be found on the City's website at https://www.newportbeachca.gov/government/data-hub/agendas-
mini itoc
April 27, 2021
June 8, 2021
July 13, 2021
September 14, 2021 (Inclusionary Housing)
October 26, 2021
November 16, 2021
January 25, 2022
April 26, 2022
Appendix C: Summary of Community Outreach (September 2022 Final Housing Element) C-12
City of Newport Beach
2021-2029 HOUSING ELEMENT
S -i
This section contains the meeting minutes and public comments for each meeting held up to March 315t
2021. All recordings, agendas, and minutes can be found on the City's website at
www.newportbeachca.gov/government/data-hub/agendas-minutes-housing-element-update-advisory-
committee
Appendix C: Summary of Community Outreach (September 2022 Final Housing Element) C-13
CITY OF NEWPORT BEACH
HOUSING ELEMENT UPDATE ADVISORY COMMITTEE MINUTES
CITY COUNCIL CHAMBERS —1 aD CIVIC CENTER DRIVE
WEDNESDAY, JULY 1, 2020
REGULAR MEETING — 6 P.M.
I. CALL MEETING TO ORDER — 6 p.m.
II. WELCOME, INTRODUCTIONS AND ROLL CALL
MEMBERS PRESENT: Chair Larry Tucker, Jeffrey Bloom, Susan DeSantis, Paul Fruchbom,
Elizabeth Kiley, Geoffrey LePlastrier, Stephen Sandland, Ed Selich,
Debbie Stevens, (Ex Officio Member) Mayor Will O'Neill
MEMBERS ABSENT: None
Staff Present: City Manager Grace Leung, Community Development Director Seimone Jurjis,
Deputy Community Development Director Jim Campbell, Principal Planner Jaime Murillo, Senior
Planner Ben Zdeba, City Traffic Engineer Tony Brine, Administrative Support Technician Amanda Lee
Chair Tucker welcomed everyone to the inaugural meeting of the Housing Element Update
Advisory Committee (HEUAC). The Housing Element Update process begins with the State
determining the number of housing units that agencies must plan for over the ensuing planning
period.
Mayor O'Neill thanked committee members for their service to the City. The Council spent quite a
bit of time in December 2019 and January 2920 thinking about how to address the Housing Element
Update. Committee members were selected for specific reasons, including their background and
expertise. In 2019, the Council talked to residents to ensure it understood what residents were
looking for. Given the size and scope of the Housing Element, the Council will need to engage
stakeholders. Finding the number of housing units will be incredibly difficult and will likely be
divisive. At the beginning of the year, the Council adopted an approach to object to the State's
mandate legally and politically/legislatively and to comply with the mandate. The goal for the
HEUAC is to find a way for the City to comply or to explain why the City cannot comply with the
mandate. Technically, the Southern California Association of Governments (SCAG) has not
provided a certified number of housing units required for this planning cycle. SCAG has requested
the California Department of Housing and Community Development (HCD) grant extensions for all
municipalities. HCD has not responded. Indications are HCD will deny the request; however,
enforcement will be extremely difficult. The City has been working with Senator John Moorlach
and Assembly Member Cottie Petrie -Norris. In reference to his role on the HEUAC, Mayor O'Neill
explained that he represents the Council, but he cannot speak for the Council without a majority
vote on a topic. He may offer his personal opinion and present a topic or question to the Council.
Ill. PUBLIC COMMENTS ON NON -AGENDA ITEMS
Jim Mosher hoped any conflicts of interest would be handled transparently given committee
members' expertise in real property development and HEUAC's recommendations to the Council
regarding the use of real property. If people are paid to attempt to influence committee members'
opinions, they are regarded as lobbyists and should register with the City.
Housing Element Update Advisory Committee Meeting
July 1, 2020
Page 2of5
IV. CURRENT BUSINESS
a. Three -Pronged Strategy of City Council and Focus of the Committee
Recommended Action: No action taken
Chair Tucker reported the City is working legislatively and with other agencies to better define the
Regional Housing Needs Assessment (RHNA) number and credits that can be applied to the
number.
Community Development Director Seimone Jurjis advised that the City has engaged with multiple
State agencies. SCAG has issued a draft RHNA number of 4,832 housing units for the City. The
Mayor has written letters to SCAG opposing the methodology and to HCD requesting clarification.
State law requires the City to permit accessory dwelling units (ADUs), but HCD's guidelines d❑ not
provide sufficient credits for ADUs to meet RHNA numbers. Staff has drafted legislative changes,
and Assembly Member Petrie -Norris has introduced legislation that defines RHNA credits and
provides guidelines for substantial evidence. The City needs to build a coalition to support the bill
and will appeal its RHNA numbers.
Chair Tucker indicated the City has to identify sites where residential development could occur and
prepare an Inventory of Sites. The Tax Assessor's parcel number for each property must be listed
on the Inventory. The certified number of RHNA units and credits will not be known for some period
of time. Any political efforts to reduce housing units will likely occur late in the process.
Chair Tucker invited the public to comment.
Jim Mosher noted HEUAC's purpose and responsibilities do not include a complete focus on RHNA
numbers. HEUAC is more of a forum for public input. The General Plan Update Steering
Committee (GPUSC) attempted to conduct outreach and research, which could inform HEUAC's
discussions. HEUAC shouid obtain input from the people who will be impacted by the need for
housing as well as developers.
David Tanner suggested HEUAC direct the public as to how it can help HEUAC achieve its goals.
He requested an update regarding staffs efforts to expedite the processing of the Housing Element
amendment, specifically an exemption from the California Environmental Quality Act (CEQA), to
affect the Greenlight provision or Measure S.
Mayor O'Neill noted that Still Protecting Our Newport (SPON) submitted the same request as Mr.
Tanner. The City has requested State Representatives sponsor legislation to exempt or at least
expedite the CEQA process for a Housing Element Update. The sole purpose of the City's request
was to try to meet the timing aspects of the Housing Element Update. The representatives declined
the request.
Chair Tucker advised that he raised the issue of a CEQA exemption with the GPUSC in order to
emphasize that HCD's schedule would be difficult to meet and if an EIR had to be prepared then
additional time would be needed to complete a Housing Element Update. With respect to Mr.
Mosher's comments, the resolution directs HEUAC to make any recommendations it believes
necessary. To begin the compliance process, HEUAC will need to identify sites. Greenlight will
not change the Committee's work, but rather will merely add one more layer of approval, a public
Housing Element Update Advisory Committee Meeting
July 1, 2020
Page 3of5
vote, after the Committee, Planning Commission and City Council complete their work. Therefore,
Greenlight is outside HEUAC's purview.
In response to a committee member's question, Deputy Community Development Director Jim
Campbell understood a housing project that is approved but not completed before June 30, 2021
may be counted towards the City's RHNA numbers. Currently, there is no information regarding
counting live-aboards towards RHNA numbers. Staff will provide HEUAC with a tally of housing
units.
Committee Member ❑eSantis noted SCAG has joined the San Diego Association of Governments
and the Sacramento Area Association of Governments to sign a letter to the Governor and HC❑ to
push back on the schedule. The Governor or the Legislature can change the timeline for the
Housing Element Update, but HC❑ cannot. HCD recently extended the timeline for the local
assistance program by six to eight months.
b. Discuss Methods to Identify Possible Housing Opportunity Sites
Recommended Action: Discuss procedures for (i) identifying and contacting owners of
potential housing opportunity sites; (ii) discuss approach to encouraging sites that could
enable affordable housing in whole or in part; and (ii►) prioritizing sites in case the RHNA
requirements are lower than currently anticipated
Chair Tucker related that there may be underutilized or vacant parcels in the City that can be
opportunity sites. Newport Center, the west Newport area, and the Airport Area will be opportunity
sites. He noted that in GPUSC community workshops, participants favored placing housing in
Newport Center, the Airport Area, the area near Hoag Hospital, Banning Ranch, and the former
landfill in Newport Coast. HEUAC will have to review each parcel in areas that might provide
opportunity sites. The standard for opportunity sites is land that is suitable and available (feasible).
Determining whether a parcel is available will require some technical analysis. Determining
whether a parcel is suitable will be decided by the full Committee and will require public input.
HEUAC will form a subcommittee to analyze sites to see how the process will play out. Anyone
with ideas for potential opportunity sites should contact staff or committee members.
Committee Member Fruchbom added that feasibility means economically feasible.
Chair Tucker noted the City is required to plan for development, not to ensure sites are developed.
State law states a municipality that plans to use non -vacant land for more than 50 percent of lower -
income RHNA requirements has to provide substantial evidence that there are no impediments to
the use of the property in order to claim credit for the property.
In reply to Committee Member Kiley's query, Chair Tucker advised that HEUAC will review recent
housing applications that were not developed. The first step is to identify sites where development
is feasible. If sites are feasible, HEUAC will consider their suitability. The hot topic for the
community will be which sites are suitable for housing.
In answer to Committee Member Sandland's inquiry, Chair Tucker agreed that his memorandum
proposed HEUAC rank opportunity sites. He did not believe the State would reduce the RHNA
numbers materially. However, if the City cannot comply with the RHNA numbers and the State
does reduce the numbers, the Council can use the ranking of sites by the Committee and
supporting information rather than having to start the process again.
Housing Element Update Advisory Committee Meeting
July 1, 2020
Page 4 of 5
Committee Member DeSantis believed community input on a range of scenarios will be important
when HEUAC prioritizes sites. The Orange County Business Council's in -fill capacity study
focused on capacity within Orange County for additional housing development. Perhaps HEUAC
can invite the study author to present information about changing market trends and the study's
results.
Chair Tucker invited the public to comment.
Jim Mosher remarked that the public may not be familiar with committee members, which could be
a problem if committee members want to engage with the public. He hoped committee members
would have open minds. The infeasibility of the former landfill site is not obvious.
Chair Tucker indicated if development of the former landfill site was feasible, someone would have
developed it by now.
An unnamed resident provided an unrelated comment about the COVID-19 pandemic.
C. Formation of Affordable Housing Subcommittee and Opportunity Sites
Subcommittee
Recommended Action: Form an affordable housing subcommittee and a housing
opportunity sites subcommittee to divide up workload
Chair Tucker reviewed the City's RHNA numbers by income level and stated he thought that three
committee members had expertise in development of affordable housing. it was his hope that an
affordable housing subcommittee would be able to educate HEUAC regarding choices.
Mayor O'Neill advised that Committee Members Bloom and Fruchbom have experience with
affordable housing.
Chair Tucker proposed Committee Members Selich and Sandland form a housing opportunity sites
subcommittee, which will analyze sites for feasibility. HEUAC will form a subcommittee for
outreach in the future.
Jim Mosher asked if the affordable housing subcommittee will propose revisions to the goals and
policies of the Housing Element and engage people living in or seeking affordable housing. Chair
Tucker reported the purpose of the subcommittee is to assist HEUAC in understanding the
financing and tax aspects of affordable housing and how the City can seek as many new affordable
units as possible while still complying with RHNA. The subcommittee will not review the existing
Housing Element regarding affordable housing from the vantage point of people living in or seeking
affordable housing.
Mayor O'Neill suggested the City not only needs to zone for affordable housing, but hast to think it
will actually happen. The question of whether the required number of affordable housing units can
be constructed given the cost of land is legitimate. The Council needs to know if it is possible. If
it is not possible, the Council needs to know the amounts of a subsidy and incentives that could
achieve more affordable housing. The Council will need a primer on affordable housing and an
explanation of what is needed to achieve affordable housing.
In response to Committee Member DeSantis' question, Chair Tucker stated programs that involve
larger employers in the City to incentivize affordable housing is outside HEUAC's purview, although
Housing Element Update Advisory Committee Meeting
July 1, 2020
Page 5of5
he noted that is something that Committee Member DeSantis might want to discuss directly with
the City Council.
Chair Tucker invited the public to comment. Seeing no one wishing to comment, he moved,
seconded by Committee Member Selich, to appoint Committee Members Bloom and Fruchbom
and Chair Tucker to the affordable housing subcommittee and Committee Members Selich and
Sandland and Chair Tucker to the housing opportunity sites subcommittee.
AYE: Tucker, Bloom, DeSantis, Fruchbom, Kiley, LePlastrier, Sandland, Selich, Stevens
NO: None
ABSTAIN: None
ABSENT: None
d. Discuss Agenda Items for Next Meeting
Recommended Action: No action taken
Chair Tucker requested agenda items for a CEQA project description, a definition of substantial
evidence, and an outreach process.
In reply to Committee Member Selich's query, Principal Planner Jaime Murillo advised that the
proposed recommendations for substantial evidence were taken from the initial legislative
amendments.
Chair Tucker invited the public to comment.
Charles Klobe suggested committee members may be confronted by folks who need a planning
incentive to make affordable housing work. Residents may be resigned to the RHNA number, but
they may not accept the City granting a subsidy or incentive that the resident has to pay for.
HEUAC may not find enough sites to comply with the requirements, but the State will be hard
pressed to impose fines for not trying.
V. COMMITTEE ANNOUNCEMENTS OR MATTERS WHICH MEMBERS WOULD LIKE PLACED
ON A FUTURE AGENDA FOR DISCUSSION, ACTION OR REPORT (NON -DISCUSSION ITEM)
Committee Member DeSantis requested the author of the in -fill capacity study address HEUAC
regarding development trends and data from the study relevant to Newport Beach.
Committee Member Sandland requested staff advise HEUAC regarding the consultant's work and
how the consultant's work will affect HEUAC's work.
In answer to Committee Member Bloom's question, Chair Tucker indicated HEUAC will receive
information about housing units entitled or permitted before June 30, 2021.
Community Development Director Jurjis recommended a presentation from the consultant
regarding HCD's guidelines and information HCD is seeking.
VI. ADJOURNMENT — 7.36 p.m.
Next Meeting: July 15, 2020, 6 p.m. in the City Council Chambers.
CITY OF NEWPORT BEACH
HOUSING ELEMENT UPDATE ADVISORY COMMITTEE MINUTES
CITY COUNCIL CHAMBERS — 100 CIVIC CENTER DRIVE
WEDNESDAY, JULY 15, 2020
REGULAR MEETING — 6 P.M.
I. CALL MEETING TO ORDER — 6 p.m.
II. WELCOME AND ROLL CALL
MEMBERS PRESENT: Chair Larry Tucker, Jeffrey Bloom, Susan DeSantis, Paul Fruchbom,
Elizabeth Kiley, Geoffrey LePlastrier, Stephen Sandland, Ed Selich,
Debbie Stevens
MEMBERS ABSENT: (Ex Officio Member) Will O'Neill — arrived at 6:31 p.m.
Staff Present: Community Development Director Seimone Jurjis, Deputy Community Development
Director Jim Campbell, Principal Planner Jaime Murillo, Senior Planner Ben Zdeba,
City Traffic Engineer Tony Brine, Administrative Support Specialist Clarivel Rodriguez
III. PUBLIC COMMENTS ON NON -AGENDA ITEMS
Deborah Allen, Harbor View Hills Community Association President, questioned the rationale of
holding a public meeting on such an important topic in light of the coronavirus and suggested the
City fight the State regarding the timing of the Housing Element Update.
Jim Mosher asked if the City would defend voters' disapproval of the Housing Element Update in
a court because a provision of AB 1063 authorizes a court to order the Housing Element Update
approved if the City submits it timely but final approval is delayed due to a local requirement for
voter approval.
Philip Bettencourt believed consultants Kimley-Horn and LSA would serve the City well and
appreciated the substantial materials provided to the public.
Dorothy Kraus hoped members of the Housing Element Update Advisory Committee (Committee)
would introduce themselves and noted the foremost objective of the Committee is to serve as a
public forum as stated in the Council resolution forming the Committee.
David Tanner inquired about the City's strategy to successfully update the Housing Element and
public involvement in the process.
Chair Tucker advised that Committee members would introduce themselves later in the meeting.
The Committee will serve as a forum for public comments. The Council needs a draft Housing
Element Update to consider and possibly adopt if it chooses to comply with the California
Department of Housing and Community Development's (HCD) requirements. With respect to AB
1063, if thresholds are met and a Measure S vote is required, there will be a further approval
process for Council actions. Measure S means the electorate can decide whether to proceed.
Housing Element Update Advisory Committee Meeting
July 15, 2020
Page 2of9
IV. CONSENT CALENDAR
a. Minutes of July 1, 2020
Recommended Action: Approve and file
Chair Tucker noted his and Mr. Masher's revisions.
Chair Tucker moved, seconded by Committee Member Selich, to approve the minutes of the July
1, 2020 meeting as amended by himself and Mr. Mosher.
AYE: Tucker, Bloom, DeSantis, Fruchbom, Kiley, LePlastrier, Sandland, Selich, Stevens
NO: None
ABSTAIN: None
ABSENT: None
V. CURRENT BUSINESS
a. Overview of Project Schedule
Recommended Action: No action; receive presentation from Kimley-Horn on the tentative
project schedule and discuss as necessary.
David Barquist, Kimley-Horn & Associates, reported the State of California has imposed deadlines
on all Metropolitan Planning Organizations (MPO), and the Southern California Association of
Governments (SCAG), the MPO for Newport Beach, has imposed deadlines on all jurisdictions
within its region. The Housing Element planning period extends from October 15, 2021 to
October 15, 2029, and the Housing Element due date is October 15, 2021. The October 15, 2021
due date may be delayed for up to six months. Legislative action is required to extend the due
date. The State provides the Regional Housing Needs Assessment (RHNA) allocations. The
RHNA process includes development of allocations, an appeal period, and final adoption of the
allocations at SCAG. Because of a number of issues, the State postponed the appeal period for
up to 120 days, and the final allocations may not be approved until the end of 2020. In order to
update the Housing Element, the City is assuming the draft allocation will be its final allocation.
The baseline analysis, which will extend through October 2020, includes a demographic housing
profile, a constraints and resources analysis, analysis of fair housing issues, and a review of the
performance of the prior Housing Element. Drafting of the Housing Element will extend through
February 2021. The public review period will extend from March through July 2021. A draft
Housing Element will be submitted to HCD for compliance review in June 2021. HCD has 60 days
to review the draft Housing Element. During that review, HCD staff and City staff can and will
communicate regarding issues. Staff anticipates public hearings will be held in September or early
October 2021 in order to comply with the adoption deadline.
Committee Member Sandland requested the fiscal analysis, Task 7.3, begin prior to February 2021.
In response to Chair Tucker's questions, Mr. Barquist advised that the market analysis will be
conducted by Keyser Marston Associates. The analysis will look at the implications of growth as it
relates to the fiscal model prepared by a prior City consultant. It will determine the cost dynamic
for such things as future opportunities for growth, affordability levels, and the rental market versus
the owner market. Task 2.2, development of housing plan, is the policy component of the Housing
Element, and work on it will occur along with Task 2.4, draft Housing Element. A draft Housing
Element could be ready for presentation by November 2020, but work and analyses may be
Housing Element Update Advisory Committee Meeting
July 15, 2020
Page 3of9
presented to the Committee prior to November. The project description is scheduled for an
extended time period because there could be some issues with sites and decisions may affect the
project description. Before the Environmental Impact Report (EIR) process begins in earnest, the
project description should be accurate. The scoping meeting is typically held just after the notice
of preparation is issued, but it can be held earlier or later in the process. The scoping meeting will
define the bounds of the project for the public. The Initial Study, notice of preparation, and public
process to begin the EIR is meant to focus on specific environmental issues.
In reply to Committee Member Selich's inquiries, Mr. Barquist indicated the EIR public review period
is generally the final two months of the process. The public review period will be determined by
the hearing dates before the Planning Commission and City Council. The public review period
could occur between June and September 2021.
In answer to Committee Member DeSantis' query, Mr. Barquist related that the length of a Housing
Element Update process depends on the jurisdiction and outreach and collaboration opportunities.
The average process extends for 12-16 months. The COVID situation, the nature of outreach, and
potential legislative changes will influence the length of the process. The proposed schedule is
feasible.
In response to Committee Member Sandland's question, Mr. Barquist stated funding and financing
opportunities for affordable housing are part of the requisite analysis for the Housing Element. The
analysis will consider existing local programs and regional, state, federal and private programs for
affordable housing. A summary of the programs will be provided to the Committee.
In reply to Committee Member DeSantis' inquiries, Mr. Barquist noted the area subject to the VMT
analysis will be determined in the next few weeks and will be shared with the Committee. October
or November may be too early to have information from VMT analyses.
In answer to Committee Member Stevens' query, Mr. Barquist advised that a baseline assessment
is part of the Housing Element policy. Committee Member Stevens suggested including the
baseline environmental study as a separate task. The scoping meeting should be held during the
public comment period for the Initial Study and notice of preparation.
Jim Mosher agreed that the scoping meeting seems to be scheduled late in the process. He
inquired about the City's position regarding the SoCal Connect Plan. He wanted to know what the
public review draft, Item 2.6, would be and how long the review period would be.
David Tanner stated under normal times, the Housing Element Update process would extend over
two years. The schedule is unrealistic. if it is realistic, there will not be any public participation.
The schedule shows very little public involvement. He requested inclusion of Measure S in the
schedule because Measure S will be required. He asked why the City is pursuing legislation that
will exempt Measure S from a vote.
Chair Tucker assumed the consultant prepared the schedule based on the due date. The process
will include public input. The Committee's task is to complete a draft Housing Element. Measure
S is not within the Committee's purview.
Housing Element Update Advisory Committee Meeting
July 15, 2020
Page 4 of 9
b. Lessons Learned from Prior Outreach and Discussion of Future Outreach
Recommended Action: No action; receive presentation from staff on previous outreach
efforts under the now dissolved General Plan Update Steering Committee and discuss
future outreach efforts.
Senior Planner Ben Zdeba reported a major product of the General Plan Update Steering
Committee was branding for the overall General Plan Update effort. Public engagement disclosed
that the Land Use and Housing Elements were two of the most important elements for the
community. A public workshop was held in each Council district on different days. More than 600
people were engaged in person and online during those workshops. One lesson learned from the
prior outreach is engaging the public on such a complicated matter is not easy. The prior process
developed a list of shared community values. Early in the process, outreach focused on community
values and a vision statement. Approximately 400 people attended a kickoff event. The first
workshop garnered the highest attendance with 68 people, and a workshop in December garnered
the lowest attendance with 8 people. Workshops included an exercise for participants to reap
locations for housing. A large amount of housing was placed in the Airport Area, Banning Ranch,
the Hoag area, Newport Coast, and Fashion Island/Newport Center. Some housing was scattered
around the City and placed in boats off the coast.
Chair Tucker advised that he attended five of the seven workshops and found the usual community
members at the workshops. An Outreach Subcommittee will be appointed, but engaging the
community is difficult.
Mildred Perez, Kennedy Commission, suggested the City engage community organizations early
in the process to discuss meeting the housing needs of low-income people and to engage low-
income communities. The Kennedy Commission would like to assist with public outreach.
David Tanner remarked that the questions asked at the workshops reflected the consultant's view
and not the public's view. He requested a discussion of the numerous impacts to the General Plan
from housing laws.
Dorothy Kraus suggested advertising begin now for the Housing Element Update, perhaps through
a banner on the City's homepage and announcements on social media platforms.
Committee Member Stevens noted the pandemic, the closure of City Hall, and misconceptions are
impediments to outreach.
Committee Member DeSantis believed outreach would probably not be in person; therefore,
different strategies and technologies will be needed.
C. Overview of Current Housing Opportunity Sites, HCD Guidebook for Site Selection
Criteria and Substantial Evidence
Recommended Action: No action; receive presentation from Kimsey -Horn and staff
regarding current housing opportunity sites inventory of the Housing Element as well as the
current site selection criteria pertaining to the update. The discussion should also touch on
what "substantial evidence" means.
Nick Chen, Kimsey -Horn, reported sites are suitable for residential development if zoned
appropriately and available for residential use during the planning period. Approximately half of
the City's RHNA allocation is designated for very -low-income and low-income housing. HCD's
Housing Element Update Advisory Committee Meeting
July 15, 2020
Page 5of9
memorandum is generally oriented toward meeting the lower -income need. The analysis of sites
begins with units entitled after the start of the projection period, June 30, 2021, which can be
counted towards the RHNA allocation. Next are the most available or the easiest to develop sites,
also known as vacant sites, but vacant sites are not a readily available resource in Newport Beach.
Next in the analysis are non -vacant or underutilized sites, which are sites currently zoned for
residential or other uses that are deemed, based on substantial evidence, re -developable for
affordable housing within the planning period. New guidance states if 50 percent or more of the
allocation is fulfilled with non -vacant or underutilized sites, there is an impediment to housing
development and further evidence must be provided, evidence such as past performance in
developing these types of sites or market analysis. The City is not responsible for development of
sites, but for providing an environment for development of sites. Creative measures or alternative
methods, such as accessory dwelling units, can be used to fulfill the allocation. HCD's
memorandum provides methods for anticipating the number of accessory dwelling units that can
be counted toward the allocation. Boats as housing units may be an alternative method.
Development has to result in no net housing loss, and any loss of units has to be accounted for in
the Housing Element and sites analyses. Fair housing and the equitable distribution of housing
has to be addressed and analyzed. The HCD memorandum defines substantial evidence as facts,
reasonable assumptions or expert opinion that can be supported by facts.
In reply to Committee Member Fruchbom's query, Mr. Chen advised that if the analysis shows that
fulfilling a requirement is infeasible, staff would have to discuss with HCD next steps and an
approach for addressing the situation.
Chair Tucker commented that locating affordable units on the coast will result in fewer units than
locating them near Hoag or the airport. Equitable distribution will be a challenge. Mr. Chen
explained that equitable distribution ensures units are not concentrated in lower resource areas.
All census tracts in Newport Beach are likely high resource areas. Chair Tucker noted the Airport
Area is zoned for a different school district. HCD suggests a jurisdiction vary its development
standards if it cannot generate sufficient affordable units. At some point, increased density
becomes counterproductive. Landowners' decisions to redevelop their properties will be driven by
economics.
In response to Committee Member LePlastrier's inquiry, Principal Planner Jaime Murillo explained
staffs development of the sites inventory prepared for the 2006 General Plan Update. Staff
included justification for the sites being legitimate opportunity sites. The Airport Area provided the
greatest opportunity for housing, followed by Newport Center, Mariners Mile, and a few smaller
sites. More analysis is needed to determine sites that can accommodate lower -income units. State
law provides that if a site can accommodate at least 30 dwelling units per acre, it is presumed the
site can accommodate lower -income housing. The Airport Area is the only area in the City with
that minimum density. The Airport Area requires a minimum 10-acre site, and the City implemented
a housing overlay exempting a development with at least 30 percent affordable units from the site
requirement. Lower -income housing sites are concentrated in the Airport Area, but it is a high
resource area. Unfortunately, development projects have reduced the number of lower -income
units that can be developed in the Airport Area.
Committee Member Kiley remarked that because of the proximity to employment and
transportation, the Airport Area is the logical location for affordable housing. In answer to her query,
Principal Planner Murillo related that staff is looking at the possibility of accessory dwelling units
(ADU) qualifying as affordable units. The potential for development of ADUs in the City is great.
SCAG is developing pre -approved methodologies to count ADUs regionally. At the time of
Housing Element Update Advisory Committee Meeting
July 15, 2020
Page 6of9
permitting, property owners complete a questionnaire indicating the rent for an ADU, and in some
cases the ADUs can be counted as low-income housing units.
In answer to Committee Member Fruchbom's question, Principal Planner Muriilo explained that in
the Airport Area the minimum density is 30 units per acre and the maximum is 50 units per acre.
Staff used 30 units per acre and parcel size to develop the realistic capacity for the Airport Area.
The actual capacity of the Airport Area is closer to 4,000 units. Staff did not consider 60 or 80 units
per acre because the General Plan does not allow such high densities.
Chair Tucker recalled the Mayor's letters to legislators regarding credit for ADUs. Public opinion
seems to be split as to whether ADUs will be developed.
In response to Committee Member DeSantis' inquiries, Principal Planner Murillo believed the
Committee will explore the potential for redeveloping existing land uses as housing. Changes in
retail business models and the pandemic may provide justification for redevelopment of sites as
housing.
Chair Tucker indicated surface parking lots are being redeveloped for other uses. The Sites
Subcommittee is exploring all possibilities and hopes to find sites on the perimeter of town.
In reply to Committee Member Sandland's inquiry, Principal Planner Muriilo reported the Newport
Crossings project with 350 units and Uptown Newport project with approximately 600 units have
been entitled, but they have not been submitted for plan check. As such, it is likely they will be
counted towards the City's RHNA allocation for the upcoming cycle. Unfortunately, the units that
can be counted will be moderate or above -moderate -income units because the lower -income
components have been completed. Staff will prepare a list of projects and units for the next
meeting.
Jim Mosher commented that the vast majority of opportunity sites identified in 2013 have not been
redeveloped during the current planning period, but some of the areas that have been redeveloped
with housing were not identified as housing opportunity sites. The Committee may want to know
the number of ADUs to which the safe harbor provisions of the HCD memo refer. Locating housing
on the County's portion of Banning Ranch may not be a good idea because of the requirements to
annex the property and to assume the County's RHNA allocation for the site.
Deborah Ailen indicated the community strongly supports locating 4,800 units on the periphery of
the City.
David Tanner requested clarification of the viability under the new regulations of opportunity areas
previously shown on the General Plan and not developed. Current laws allow each residential
property owner within the City to construct an ADU on his property. More than 40,000 ADUs could
be built within the City.
Dorothy Kraus inquired about preparation of a baseline number of units that have been built and
the remaining capacity and about the Coastal Commission's review of opportunity sites in the
Coastal Zone and the impact of the Coastal Commission's review on the October 2021 deadline.
Chair Tucker advised that opportunity sites within the Coastal Zone are not under consideration
presently.
Housing Element Update Advisory Committee Meeting
July 15, 2020
Page 7of9
Deputy Community Development Director Jim Campbell explained that the City has a robust GIS
database of density. Much of the under -built density is located on R-2 properties. Staff has not
created any summaries but has created maps, which have been provided to the consultant for
evaluation of the current baseline. Staff will work with HCD to develop projections for ADUs and
work with the community to increase development of ADUs. Redeveloping single-family homes on
R-2 lots as duplexes may be an untapped resource for housing units, but it could be difficult to
justify to HCD because staff would have to assess the amount of redevelopment over the next eight
years based on a nonexistent program.
In response to Committee Member Kiley's inquiry, Deputy Community Development Director
Campbell related that staff would like to count existing, unpermitted ADUs. However, HCD might
take the position that existing ADUs are not a net increase in housing. The City may need to
develop policies and programs to promote permitting of existing unpermitted ADUs and
redevelopment on R-2 parcels so that HCD will accept the housing units.
d. CEQA Project Description
Recommended Action: No action; receive presentation from staff on the project description
as it pertains to compliance with the California Environmental Qualify Act (CEQA) and
discuss as necessary.
Deputy Community Development Director Campbell reported the environmental review will be
programmatic. The CEQA analysis will be based on discrete geographies and specific densities,
which are the fundamental components of a project description. This approach to a programmatic
environmental review will likely result in an EIR that reflects more impacts than what will be
approved. There will not be an opportunity to change the project description to match the final
inventory.
In reply to Chair Tucker's questions, Deputy Community Development Director Campbell explained
sites may be removed from the inventory if they are not feasible or do not meet legal definitions,
but sites cannot be added to the inventory. The project scope may be larger than the final sites
inventory. Amendments to the Circulation Element may require environmental review and analysis.
Policies added to the Housing Element and Land Use Element may need to be evaluated. The
project description has to be broader than potential sites. Many components will need to be
analyzed before preparation of the EIR begins. The sites inventory will be specific while areas of
interest can be fairly broad. Sites will be considered in parallel to preparation of the EIR. Staff and
the consultants will prepare a project description and present it to the Committee for review and
action. Meanwhile, the Committee will be reviewing potential sites. A Statement of Overriding
Considerations is a possibility even if the RHNA allocation is fulfilled. While Level of Service has
been replaced with Vehicle Miles Traveled, a Level of Service analysis will be needed to properly
plan for intersections and to ensure housing fits as best it can within projections.
In answer to Committee Member DeSantis' inquiry, Deputy Community Development Director
Campbell indicated staff will attend SCAG's workshop regarding a new tool for the site inventory.
In response to Committee Member Fruchbom's query, Deputy Community Development Director
Campbell related that there has been talk about exempting the Housing Element Update from
CEQA requirements so that jurisdictions can complete it on time. Staff will proceed under the
assumption that the Housing Element Update is not exempt from CEQA requirements.
Housing Element Update Advisory Committee Meeting
July 15, 2020
Page 8of9
David Tanner stated the project description should not be developed by staff or consultants. The
City's Traffic Phasing Ordinance will require a Level of Service analysis. There will be massive
gridlock if ADUs are developed and RHNA numbers are met.
e. Subcommittee Progress Reports
Recommended Action: Receive verbal progress reports from both subcommittees and
discuss as necessary.
Chair Tucker advised that the Affordable Housing Subcommittee discussed funding, financing, tax
credits, subsidies, and rent restrictions for affordable housing. The challenge will be creating
incentives that allow the construction of as much affordable housing as possible. At this time,
achieving the RHNA allocations for affordable housing does not appear realistic.
Committee Member Fruchbom introduced himself as an affordable housing developer. The cost
of providing an affordable unit in Newport Beach is higher than in many other cities, but state and
federal regulations for affordable housing rents do not consider that fact. Tax credits generally do
not provide sufficient income to construct the required number of affordable units. Because rents
are high in Newport Beach, increasing the density to some economic limit creates more value for
projects in Newport Beach than in an area with lower rents. Hopefully, the developer's profit from
high -rent units will be sufficient to subsidize the affordable rents.
Committee Member Jeffrey Bloom introduced himself as the head of commercial lending for a
regional bank. In addition, he oversees the bank's investment in low-income housing tax credits.
Finding tax credit investments in higher -income areas is extremely difficult. Incentives are needed
for developers to construct projects in high -income areas and allocate funds saved from that project
to projects in less -costly areas.
Chair Tucker indicated the Sites Subcommittee began analyzing parcels in a portion of the Airport
Area for potential opportunities. There are many large parking lots in the area; however, office
buildings have the rights to park in those lots. The subcommittee will probably draft letters to the
property owners. The Airport Area is limited to 550 infill units, but that number will probably change.
Committee Member Selich introduced himself as a housing developer and a former member of the
Newport Beach City Council, Planning Commission, Affordable Housing Task Force, and Local
Coastal Program Implementation Committee.
Committee Member Sandland introduced himself as a licensed architect and retired real estate
developer, primarily in infill and reuse projects. He has served on the City Hall Design Committee
and the Building and and Fire Board of Appeals. The Sites Subcommittee also discussed buildings
that could be repurposed or demolished for a higher and better use and wrap and podium projects.
For all of these projects, the property owner has to be willing to redevelop his property.
Committee Member LePlastrier introduced himself as a business adviser and a member of the
Board for Olson Urban Housing.
Committee Member Kiley introduced herself as a commercial real estate appraiser.
Committee Member De Santis introduced herself as a consultant for stakeholder engagement and
advised that she has worked with the California Association of Realtors, as the Director of the State
Department of Housing, and with an urban planning firm.
Housing Element Update Advisory Committee Meeting
July 15, 2020
Page 9of9
Committee Member Stevens introduced herself as an environmental consultant primarily for CEQA
documents and as President of the Corona del Mar Residents Association.
Chair Tucker introduced himself as a former attorney for residential, retail and industrial real estate
developers, an investor in commercial properties, and a former licensed real estate broker. He has
also served on the Planning Commission, City Hall Design Committee, and Finance Committee.
Jim Mosher appreciated the introductions and the detailed subcommittee reports and hoped future
agendas would include subcommittee reports.
f. New Subcommittee Appointments
Recommended Action: Appoint an additional opportunity sites subcommittee and
appointment an outreach subcommittee.
Chair Tucker appointed Committee Members LePlastrier, Selich and Kiley to the Opportunity Sites
Subcommittee for West Newport/Mesa and Committee Members DeSantis and Stevens to the
Outreach Subcommittee.
Chair Tucker moved, seconded by Committee Member Selich, to confirm the appointments to the
Opportunity Sites Subcommittee and the Outreach Subcommittee.
AYE: Tucker, Bloom, DeSantis, Fruchbom, Kiley, LePlastrier, Sandland, Selich, Stevens
NO: None
ABSTAIN: None
ABSENT: None
VI. COMMITTEE ANNOUNCEMENTS OR MATTERS WHICH MEMBERS WOULD LIKE PLACED
ON A FUTURE AGENDA FOR DISCUSSION, ACTION OR REPORT (NON -DISCUSSION ITEM)
Chair Tucker did not believe a presentation of the 2018 Orange County Business Council study
would be useful even though it is an interesting study. The study could be good support for a draft
Housing Element Update.
VII. ADJOURNMENT — 8:41 p.m.
Next Meeting: August 19, 2020, 6 p.m. in the City Council Chambers.
CITY OF NEWPORT BEACH
HOUSING ELEMENT UPDATE ADVISORY COMMITTEE MINUTES
CITY COUNCIL CHAMBERS — 100 CIVIC CENTER DRIVE
WEDNESDAY, SEPTEMBER 2, 2020
REGULAR MEETING — 6 P.M.
I. CALL MEETING TO ORDER — 6 p.m.
II. WELCOME AND ROLL CALL
MEMBERS PRESENT: Chair Larry Tucker, Jeffrey Bloom, Susan ❑eSantis, Elizabeth Kiley,
Geoffrey LePlastrier (remote), Stephen Sandland, Ed Selich, Debbie
Stevens, (Ex Officio Member) Will O'Neill (arrived at 6:10)
MEMBERS ABSENT: Paul Fruchbom
Staff Present: Community Development Director Seimone Jurjis, Deputy Community Development
Director Jim Campbell, Principal Planner Jaime Murillo, Senior Planner Ben Zdeba,
City Traffic Engineer Tony Brine, Administrative Technician Amanda Lee
Ill. PUBLIC COMMENTS ON NON -AGENDA ITEMS
David Tanner inquired regarding the City's strategy for updating the Housing Element; the rationale
for spending more than $2 million to update the Housing Element; a Greenlight election; and the
City's involvement in AB 1063. He offered to explain an alternative strategy that would save the
City time and money.
Jim Mosher noted there have not been agenda items to discuss the frequency of the Housing
Element Update Advisory Committee (HEUAC) meetings or the consultant's work on the
Environmental Impact Report (EIR). The Circulation Element Update has been delegated to the
Planning Commission when the City Council charged the HEUAC with updating the Circulation
Element.
Nancy Scarbrough asked if the City has applied for any planning grants offered by the California
Department of Housing and Community Development (HCD).
Senior Planner Ben Zdeba reported the City has been awarded grants under the SB 2 planning
grant program and the Local Early Assistance Planning (LEAP) grant program. The grant funds
have been used to update the City's land management software.
Chair Tucker suggested the City Council is the appropriate body to consider Mr. Tanner's
alternative strategy. The City Council has indicated a Greenlight vote will be held if the Housing
Element Update triggers one. Chair Tucker believed a vote would be necessary. AB 1063 failed
to receive the support necessary for advancing through the Legislature. The HEUAC will meet as
needed and when necessary information is available. The HEUAC will receive updates regarding
the environmental document. The decision has been made to delegate the Circulation Element
Update to the Planning Commission.
Housing Element Update Advisory Committee Meeting
September 2, 2020
Page 2 of 7
Mayor O'Neill advised that the need for a Greenlight vote will not be known until the end of the
update process.
IV. CONSENT CALENDAR
a. Review Minutes of the July 15, 2020 Meeting
Recommended Action: Approve and file the minutes of July 15, 2020
At Committee Member Sandland's request, Principal Planner Jaime Murillo clarified that the
Newport Crossings project has been entitled, but it has not been submitted for plan check. Staff
anticipates the project's housing units can be counted towards the City's Regional Housing Needs
Assessment (RHNA) allocation for the upcoming cycle.
Committee Member Sandland requested the minutes reflect Mr. Murillo's clarification of comments
in the fifth paragraph on page 6 and reflect Building and Fire Board of Appeals rather than Building
and Life Safety Board of Appeals on page 8.
David Tanner asked the City to create a folder to store all public comments rather than including
public comments in each agenda item.
Chair Tucker requested the incorporation of Mr. Mosher's correction of typographical errors and
proper names.
Committee Member Sandland moved, seconded by Committee Member Selich, to approve the
minutes of the July 15, 2020 meeting as amended.
AYE: Tucker, Bloom, DeSantis, Kiley, LePlastrier, Sandland, Selich, Stevens
NO: None
ABSTAIN: None
ABSENT: Fruchbom
V. CURRENT BUSINESS
a. Community Outreach Plan
Recommended Action: Review and discuss the draft outreach plan. Provide direction to
staff on how to proceed.
David Barquist, Kimley-Horn & Associates, reported the purpose of the plan is to ensure community
engagement is sustained throughout the planning process. The overall goal is to provide a
transparent process that provides sufficient and varied opportunities for public participation. The
plan can be adapted to respond to the COVI❑ situation. The process chart depicts the planning
phases and outreach activities for each phase. He summarized the use of Bang the Table, the
online platform, and workshops; the HEUAC's and City Council's involvement; and opportunities
for feedback regarding the EIR.
Committee Member ❑eSantis appreciated staff and the consultant incorporating the outreach
subcommittee's comments in the plan. In response to her questions, Mr. Barquist recommended
a four -week lead time to promote the initial workshop in October. Staff and consultants are working
on the details of the workshop. A specific date in October has not been announced. Consultants
will suggest technologies they feel are best for tasks. Bang the Table can be used for polling,
Housing Element Update Advisory Committee Meeting
September 2, 2020
Page 3 of 7
analysis, mapping, and many other activities and will be the base technology. Workshops will be
recorded and available for the public to review and provide feedback.
In reply to Committee Member Stevens' inquiry, Senior Planner Zdeba advised that the website
has been updated and is live. A member of the public has commented on the removal of the prior
planning effort, and staff is working on returning it to the website. The website will be updated
throughout the process.
In answer to Committee Member Sandland's queries, Mr. Barquist indicated the overall schedule
and associated action items are being updated and will be provided to the HEUAC. at or before its
next meeting.
Chair Tucker remarked that the HEUAC needs to review and understand information about housing
sites before it can provide direction regarding outreach. The HEUAC needs the information in order
to obtain specific input from the public.
Deborah Allen, Harbor View Hills Community Association President, agreed with Chair Tucker's
comments. The sites will be the issue for public comment. Notices of meetings and workshops
should be provided to community associations and homeowners associations for distribution to the
members.
Jim Mosher inquired regarding the anticipated deliverables from the workshops and the purpose
of outreach. For outreach to be effective, the topic for public comment should be specific, and the
input should have a meaningful effect on the outcome of the process. The HEUAC should consider
better branding for the update effort. The number of community members who have used the
outreach tools is probably small, and community familiarity with the tools is not sufficient reason to
continue using the tools. Stakeholders should include potential future residents with low incomes.
David Tanner suggested the workshops be dialogs with the community such that the community
helps draft the document. The schedule should be revised to accommodate a Greenlight election
and Coastal Commission approval. None of the documentation refers to updating the Safety
Element. Voters want to know the assumptions being used in modeling.
Nancy Scarbrough expressed concern about the timing of the outreach program. The content of
workshops should be reviewed in advance to ensure the workshops will be productive and
effective. Community input needs to be more than responses to questions.
Chair Tucker believed sites would drive discussions and community input. Hopefully, the outreach
program will be designed to elicit input about sites. Stakeholders are residents, businesses, and
owners of commercial properties where housing sites may be located.
Committee Member Stevens suggested a review of the housing sites subcommittee's work would
help the public understand the complexities of selecting sites.
Committee Member DeSantis understood the community wants to know the location of housing
sites and the effect of development at those sites on the look of the community. This will add
another layer to the complexity of identifying sites.
Chair Tucker expected the look of potential developments to be a factor in decisions. In all
likelihood, only a small number of sites could accommodate an all affordable housing project. The
Housing Element Update Advisory Committee Meeting
September 2, 2020
Page 4 of 7
majority of affordable units would likely be components of large, above -moderate -income
development projects.
b. Subcommittee Progress Reports
Recommended Action: Receive verbal progress reports from all subcommittees and
discuss as necessary.
Chair Tucker reported the sites subcommittee has reviewed sites in the Airport Area to determine
possible sites for housing. He reviewed each of the sites and pros and cons for redeveloping the
sites.
Committee Member Selich advised that limited housing opportunities are available in West Newport
areas zoned for residential, medical office, and public facility uses. Housing may be possible in
areas zoned for industrial/commercial uses and in areas containing mobile home lots.
Chair Tucker explained that a zoning overlay retains the current use and adds a new use. An
overlay may be important for the east side of MacArthur Boulevard. Tenants of affordable housing
pay rent, but the rent amount is based upon income. Incentives will be needed for the development
of affordable housing.
Committee Member Kiley related that rezoning a one or two-story commercial building to residential
could increase the utilization of the site, which may be preferable to the property owner. The cost
of demolishing a commercial building from the 1970s and replacing it with housing could be less
than remodeling the commercial building.
Jim Mosher believed the State allows housing with adequate sound attenuation in 65 dB areas.
However, Noise Element Policy N 3.2 prohibits new residential development in 65 dB areas. A
General Plan amendment has been noticed for the September 8 City Council meeting. The
amendment would extend the existing overlay for housing into an area where housing is not
allowed. He requested clarification of Committee Member Bloom's concept of incentives for
development of projects in high -income areas.
Chair Tucker indicated developers could pay a fee for projects in high -income areas, and the fees
would be used for affordable housing projects in areas with lower land costs.
In answer to Committee Member DeSantis' questions, Chair Tucker stated the HEUAC does not
advise the Council regarding planning applications. If the Council approves the General Plan
amendment, the HEUAC will have less to consider. The units have been incorporated into the
roadmap.
C. Housing Element Sites Strategy
Recommended Action: Receive an overview of current projects in the development pipeline
that can count towards the RHNA allocation and discuss strategies to identify housing
opportunities.
Senior Planner Zdeba reported the City's draft RHNA allocation will be increased to 4,834 units.
The roadmap is simplistic and does not include income designations. Entitled and unbuilt projects
may be under construction but have not received a certificate of occupancy and will provide 1,136
units. Projects under review have not been entitled and could provide 878 units.
Housing Element Update Advisory Committee Meeting
September 2, 2020
Page 5 of 7
In reply to Chair Tucker's questions, Senior Planner Zdeba indicated the unit count for the Uptown
Newport project pertains to Phase 2. Phase 2 will begin when TowerJazz's lease expires. Principal
Planner Murillo explained that the Newport Crossings project was approved under the Newport
Place affordable housing overlay. The overlay allows housing development up to 50 dwelling units
per acre subject to design review only. To qualify for housing under the overlay, the developer has
to commit to providing a minimum of 30 percent of units at the low-income level. The developer
has received a density bonus in exchange for low-income housing. This is the first application to
utilize the overlay. Plans have not been submitted for plan check. The Airport Area has a maximum
development limit of 2,200 units, but most of those units have to be developed through the
conversion of commercial floor area. Five hundred fifty infill units are also allowed. The
Residences at 4400 Von Karman project is utilizing 260 of those infill units. The developer received
a density bonus for providing very -low-income units. The Newport Village project complies with
minimum commercial standards and maximum residential standards and is currently under review.
The project does not seek more intensity than is allowed.
Committee Member Kiley suggested the RHNA allocation and business closures caused by COVID
may provide an opportunity to amend the General Plan to support more residential and less
commercial space in mixed -use projects.
In answer to Mayor O'NeiII's queries, Principal Planner Murillo explained that if a project is permitted
and built prior to June 30, 2021, the units in the project will be credited to the current cycle. The
guidelines state the cutoff date is the date of entitlement, permitting, or issuance of a certificate of
occupancy. Staff relies on the date a certificate of occupancy is issued. The Newport Crossings
project has been entitled but has not obtained permits. The Uptown Newport project is subject to
a Development Agreement.
Senior Planner Zdeba advised that 781 units from the 2014-2021 Housing Element inventory could
count if they comply with the guidelines for the current cycle. The number of units does not include
any units at Banning Ranch because annexation probably could not occur prior to the deadline.
In response to Committee Member Sandland's inquiry, Senior Planner Zdeba indicated the 781
units are based on the realistic development capacity of the existing inventory and do not include
sites slated for redevelopment. He agreed to provide a tabulation of the units.
Senior Planner Zdeba described alternatives to new construction as preservation of existing
affordable units and conversion of market -rate units to affordable units. The guidelines limit the
number of alternative units to 25 percent of the City's very low and low-income requirements.
Mobile home units can be identified as committed and preserved for affordable housing, but the
55-year minimum affordability term may be a deterrent to property owners taking that action.
In, reply to Chair Tucker's queries, Senior Planner Zdeba stated realistically 12 units could be
preserved within the timeframe for the current cycle. Chair Tucker believed there are few
opportunities to achieve the 594 units.
Senior Planner Zdeba related that 1,000 units is an aggressive target for the production of
accessory dwelling units (ADUs). With the changes in State law, the production of ADUs is much
easier. To achieve this number, the City would have to commit to promoting ADUs, monitoring
ADU production, and being held accountable should 1,000 units not be achieved. The ADU target
number is open for discussion.
Housing Element Update Advisory Committee Meeting
September 2, 2020
Page 6 of 7
In response to Chair Tucker's inquiries, Senior Planner Zdeba indicated there would be
consequences for failing to achieve 1,000 ADUs. State law does not allow the imposition of new
or existing private restrictions on ADUs.
Senior Planner Zdeba explained that the City could commit to a rezoning program that would
account for shortfalls in achieving goals.
In answer to Committee Member Sandland's questions, Senior Planner Zdeba advised that the
beginning of the planning period is June 30, 2021. None of the goals include potential units at
Banning Ranch. Principal Planner Murillo reported live-aboards with permanent utility hookups
can count towards the allocation. Moorings in Newport Harbor do not provide permanent utility
hookups and cannot count.
In reply to Committee Member Selich's queries, Senior Planner Zdeba reported the number of units
obtained through rezoning could be 445 if the other goals are achieved. Staff has not analyzed the
number of units from the existing inventory to suggest a realistic number of units that could be
achieved. The assumptions for existing inventory sites, alternatives to new construction, and ADUs
will affect the target for rezoning.
Committee Member Bloom remarked that the net number of needed units is 2,009 absent income
restrictions. With income restrictions, the target for low-income units is about 3,300 units.
Approximately 6,200 units will be needed to satisfy the income restrictions. Principal Planner
Murillo related that only 88 of the 1,136 units entitled and unbuilt are lower -income units. Staff
needs to present the number of units per income category for each target.
In answer to David Tanner's question, Chair Tucker stated the HEUAC will attempt to find sufficient
sites to accommodate housing. If the HEUAC cannot accomplish that, it will report it to the Council.
Mr. Tanner suggested the HEUAC ask staff and consultants about the strategy if the allocation
cannot be fulfilled. He inquired about opportunities for public input in the roadmap.
Jim Mosher remarked that the HEUAC is not envisioning all affordable housing projects. The goal
for low and very -low-income units is more than 2,000. To achieve 2,000 units, the number of overall
units will have to be more than 4,834. The City Council has asked the Harbor Commission to
review live-aboards, perhaps with the idea of counting them towards the RHNA allocation. The
Harbor Code prohibits houseboats.
Chair Tucker reported approximately 2,400 units in the lower affordability range are required. If
market -rate housing projects can include no more than 20 percent affordable housing, 12,000
housing units will be needed to provide 2,400 affordable units.
Mayor O'Neill recalled the Council's direction for three paths: providing a compliant Housing
Element, pushing back legislatively, and pushing back legally. The Council will consider an appeal
and legal options when it receives the formal RHNA allocation. The Council's legislative efforts
ended when the bill it supported died. Completing the Housing Element Update in 14-15 months
is not possible. The expectation for the HEUAC is to find as much compliance as possible and
make recommendations to the Council. The Council will then review its options.
In reply to Committee Member Selich's question, Principal Planner Murillo advised that a rezoning
program, if needed, would be contained in the Housing Element that the City Council adopts. The
City will have three years to complete rezoning, which could include General Plan amendments. A
Housing Element Update Advisory Committee Meeting
September 2, 2020
Page 7 of 7
Greenlight vote would not occur until rezoning and associated General Plan amendments are
proposed. A Greenlight vote and Coastal Commission approval are not needed to submit the
Housing Element to HCD.
Committee Member DeSantis remarked that affordable housing does not have to be achieved
through inclusionary requirements only. The HEUAC can explore other methods to achieve
affordable housing that will not increase the number of overall units. A housing trust fund and
mortgage programs are examples of such methods. Newport Beach employers could be interested
in contributing to a housing trust fund for workforce housing.
Chair Tucker commented that the HEUAC will need to document and describe the reasons it cannot
meet the RHNA allocation, if that occurs.
Mayor O'Neill referred to the City's efforts to subsidize permanent supportive housing, which could
aid compliance with the RHNA allocation.
Mary Ann Soden encouraged the HEUAC to consider nonprofit and affordable housing partners to
build affordable housing.
In answer to Committee Member Sandland's question, Chair Tucker indicated he is working with
staff to draft a letter to property owners regarding redevelopment of their properties.
d. Appointment of an Additional Sites Subcommittee
Recommended Action: Appoint an additional sites subcommittee.
Chair Tucker moved, seconded by Committee Member Selich, to establish an Additional Sites
Subcommittee composed of Chair Tucker and Committee Members Selich and Stevens.
AYE: Tucker, Bloom, ❑eSantis, Kiley, LePlastrier, Sandland, Selich, Stevens
NO: None
ABSTAIN: None
ABSENT: Fruchbom
VI. COMMITTEE ANNOUNCEMENTS OR MATTERS WHICH MEMBERS WOULD LIKE PLACED
ON A FUTURE AGENDA FOR DISCUSSION, ACTION OR REPORT [NON -DISCUSSION ITEM]
Chair Tucker requested details of affordable housing.
Vll. ADJOURNMENT — 8:39 p.m.
Next Meeting: October 7, 2020, 6 p.m. in the City Council Chambers.
1T1
CITY OF NEWPORT BEACH
HOUSING ELEMENT UPDATE ADVISORY COMMITTEE MINUTES
CITY COUNCIL CHAMBERS — 100 CIVIC CENTER DRIVE
WEDNESDAY, OCTOBER 7, 2020
REGULAR MEETING — 6 P.M.
CALL MEETING TO ORDER — 6 p.m.
WELCOME AND ROLL CALL
MEMBERS PRESENT: Chair Larry Tucker, Jeffrey Bloom, Susan DeSantis, Paul Fruchbom
(remote), Geoffrey LePlastrier, Stephen Sandland, Ed Selich, Debbie
Stevens
MEMBERS ABSENT: Elizabeth Kiley (excused), (Ex Offici❑ Member) Will O'Neill
Staff Present: Community Development Director Seimone Jurjis, Deputy Community Development
Director Jim Campbell, Principal Planner Jaime Murillo, Senior Planner Ben Zdeba,
Administrative Support Specialist Clarivel Rodriguez
PUBLIC COMMENTS ON NON -AGENDA ITEMS
Jim Mosher noted the City Council has amended the General Plan and approved a development
agreement for a developer to build housing that does not require low-income or very -low income
units on property adjacent to the Airport. Allowing all developers to do this would result in the need
to find locations for up to 49,000 units to achieve quotas for affordable housing.
Nancy Scarbrough commented that the Circulation Element had been delegated to the Planning
Commission without a Council vote or public awareness. She wanted to know when and where
that decision was made and whether staff or consultants have begun work on updating the
Circulation Element.
CONSENT CALENDAR
a. Minutes of the September 2, 2020
Recommended Action: Approve and file the minutes of September 2, 2020
Chair Tucker indicated Mr. Mosher has provided a minor correction.
Chair Tucker moved, seconded by Committee Member Selich, to approve the minutes of the
September 2, 2020 meeting as presented.
AYE: Tucker, Bloom, ❑eSantis, LePlastrier, Sandland, Selich, Stevens
NO: None
ABSTAIN: Fruchbom
ABSENT: Kiley
Housing Element Update Advisory Committee Meeting
October 7, 2020
Page 2 of 8
V. CURRENT BUSINESS
a. Subcommittee Progress Reports
Recommended Action: Receive verbal progress reports from all subcommittees and
discuss as necessary.
Chair Tucker reported the sites subcommittees for the Airport Area and West Newport Mesa have
completed their reviews, and staff has posted the subcommittees' notes to the website. The site
subcommittee for the remainder of the City is awaiting information from staff. The goal is to have
the subcommittee's review complete and its notes posted prior to the next HEUAC meeting and
the workshop.
Senior Planner Ben Zdeba advised that the information should be available for the subcommittee
the following week.
Chair Tucker explained that the sites subcommittees graded each site as feasible, potentially
feasible, or infeasible. Feasible sites have physical characteristics that may allow housing
development. Infeasible sites appear not to have the ability to accommodate housing. Potentially
feasible sites may accommodate housing, but the subcommittee could not make a determination
based upon current information. After public input, the HEUAC will decide if a parcel is suitable for
housing.
Committee Member Sandland requested staff maintain a tabulation of the number of acres and
potential units the sites could generate in each category. Deputy Community Development Director
Jim Campbell advised that staff will maintain a tabulation of the acreage of the sites and could
provide a range of densities or unit yields at different densities.
In response to Deputy Community Development Director Campbell's query, Chair Tucker explained
that the HEUAC should determine sites are suitable for housing prior to staff contacting the property
owners. The subcommittees have no decision -making authority. Deputy Community Development
Director Campbell expressed concern because the HEUAC would receive public input prior to
making a decision, and public input would occur over a number of months. Staff should contact
property owners sooner rather than later to learn of their interest in building housing on their
properties. In addition, staff should probably contact more property owners than the HEUAC
identifies in order to gather additional information about sites. Chair Tucker expected the
workshops to provide public input regarding the sites that could accommodate housing. The
October 20, 2020 workshop could provide input for the HEUAC to consider in its October 21
meeting. The HEUAC will review sites in the Airport Area and West Newport Mesa on October 21
and the rest of the City on November 4. By November 4, the HEUAC should have enough input
for staff to begin contacting property owners. Deputy Community Development Director Campbell
did not believe the October 20 workshop would consider specific sites; therefore, the HEUAC would
not have public input regarding specific sites for its October 21 meeting.
Jim Mosher requested a more logical numbering system for the parcels and suggested the HEUAC
webpage contain a list of subcommittees, subcommittee members, and the task of each
subcommittee.
Chair Tucker related that the numbering system was provided to the subcommittee, and the
subcommittee did not change it.
Housing Element Update Advisory Committee Meeting
October 7, 2020
Page 3 of 8
Deputy Community Development Director Campbell indicated the webpage could be updated to
include a list of subcommittees.
Dorothy Kraus remarked that the lack of a response to Ms. Scarbrough's comments about the
Circulation Element leaves an unsettling feeling. She inquired about the rationale for deeming the
Road and Track building as infeasible when the underlying zoning for the parcel is residential.
Chair Tucker explained that he made a recommendation to staff and the Mayor that the Planning
Commission update the Circulation Element as it has experience with traffic matters and HEUAC
members do not. He was not privy to how the decision occurred.
Committee Member Selich advised that the subcommittee was informed that the Road and Track
building is undergoing remodeling for a private school's educational offices. With the school's
investment in the building, the subcommittee felt it was infeasible for housing. In addition, a major
portion of the parking lot for the building is in the public right-of-way for the extension of 15th Street.
Deputy Community Development Director Campbell reported several years ago the Hearing Officer
granted an extension of the nonconforming office use for Kobe's project at the Road and Track
site. Pacifica Christian School is making similar investments and extending that nonconforming
privilege. Changing zoning on the site from residential to commercial would require a General Plan
Amendment. Also, the shape and size of the parcel makes a residential development on the site
challenging. In order to include the site in the Housing Element Update, the City needs reasonable
evidence that the site could change land uses during the planning period.
Chair Tucker appreciated Ms. Kraus' input as the type of input the HEUAC wants to receive.
b. Strategy for Public Input on Sites
Recommended Action: Discuss and provide direction on how to best seek public input on
the housing opportunity sites inventory.
Chair Tucker wanted to receive quality input regarding the suitability of sites listed in the
subcommittees' notes. Following the October 20 workshop, the HEUAC will review feasible and
potentially feasible sites, hear public input provided at the workshop, and determine sites suitable
for housing. HEUAC review of sites in the Airport Area and West Newport Mesa will be scheduled
for October 21, and sites in the remainder of the City will be scheduled for November 4.
In response to Chair Tucker's question, David Barquist, Kimley-Horn and Associates, advised that
the City has the right to adopt a Housing Element as it sees fit, but the City has to abide by State
law. If the City adopts a Housing Element that does not comply with statutory requirements, the
State will not certify the Housing Element. There are some challenges to self -certifying a Housing
Element. In his opinion, the community's desires and statutory requirements should be considered
equally. Chair Tucker understood penalty provisions contained in recent legislation apply pressure
on cities to achieve their RHNA allocations. Mr. Barquist could provide the HEUAC with relevant
legislation.
Chair Tucker did not want the public to participate in the engagement process and then feel as
though the HEUAC ignored its input. He read the Code section regarding public participation.
Housing Element Update Advisory Committee Meeting
October 7, 2020
Page 4 of 8
C. Outreach Plan Update
Recommended Action: Receive an overview of the outreach plan efforts, including
information on the schedule moving forward and the upcoming October 20 virtual workshop
and the November 96 virtual workshop for the Circulation Element Update.
Mr. Barquist reviewed opportunities for community engagement, which include digital engagement,
committee/advisory meetings, in -person or virtual workshops, online video presentations, and
webinars. The first community workshop is scheduled for October 20, 2020, will be held online, and
will be interactive without a presentation. Engagement opportunities will be available through the
website and HEUAC meetings
Senior Planner Zdeba related that 36 people have registered via Zoom for the October 20
workshop. The community was notified of the workshop through email blasts and Nextdoor posts.
The community may register for the workshop on the website. A Circulation Element kickoff
workshop is scheduled for November 16, 2020.
In response to Committee Member DeSantis' inquiries, Mr. Barquist emphasized the interactive
nature of the October 20 workshop. The workshop will include lessons learned from prior outreach
efforts, the context for RHNA, a series of activities, and next steps. Scenario building or modeling
with different densities will occur after the October workshop. Vehicle miles traveled (VMT) and
circulation will be part of the analysis. Mitigation measures for VMT impacts and many other topics
will be part of community education.
In answer to Committee Member Stevens' question, Mr. Barquist stated the Lego exercise will not
be repeated as staff has clearly directed the consultant team not to repeat activities. The workshop
will focus on locations within areas of the City.
Chair Tucker remarked that if the HEUAC cannot achieve the RHNA allocation during the update
process, sites will be selected based on their ability to provide housing units, which is not a good
planning method.
Committee Member DeSantis referred to a letter from Olen Properties. Visioning is not reviewing
individual sites but preparing a realistic model for an area based on available sites and the
development community's input regarding feasibility.
In reply to Committee Member Selich's query, Mr. Barquist explained that during the workshop,
participants can respond to polls and share their ideas.
Jim Mosher hoped the workshop will have some form. He expressed concern about having to
provide information to Zoom in order to register for the workshop. He inquired whether workshops
would be recorded and posted on the website. He requested clarification of the Circulation Element
workshop and the center column of the chart for outreach opportunities.
Charles Klobe commented that without State and Federal subsidies, the City will not find enough
sites to accommodate 49,000 housing units, which will include the required number of affordable
housing units. The HEUAC should decide it will submit an incomplete Housing Element. He
suggested staff reach out to coastal cities in the same position as Newport Beach and develop a
regional coalition to approach the State.
Housing Element Update Advisory Committee Meeting
October 7, 2020
Page 5 of 8
Dorothy Kraus expressed confusion regarding the role of the outreach subcommittee in obtaining
public input on sites. The HEUAC seems to be glossing over Committee Member DeSantis'
comments regarding visioning. The Outreach Plan and the websites are confusing and do not
relate to each other.
Chair Tucker advised that Committee Members DeSantis and Stevens form the outreach
subcommittee. They coordinate the outreach program with staff and consultants in order to obtain
meaningful public input. The City can fight its RHNA allocation or update the Housing Element to
achieve the allocation. if individuals feel the City should fight the allocation, they should address
the City Council.
Deputy Community Development Director Campbell indicated the workshops will be recorded and
posted on the website. A detailed script or agenda of the workshop is not ready for publication.
Zoom registration requires a name and email address. Staff will update the City Council on October
13, 2020, but currently no other meetings with the Planning Commission or City Council have been
scheduled.
Chair Tucker requested the workshop script be provided to the outreach subcommittee for
comment. The affordable housing subcommittee is awaiting information from Principal Planner
Jaime Murillo.
Committee Member DeSantis noted Orange County has a housing trust fund, and cities may create
a local fund to subsidize housing units.
Senior Planner Zdeba explained that the Circulation Element webinar is listed at the top of the
chart.
In response to Committee Member Sandland's question, Deputy Community Development Director
Campbell clarified that workshops and webinars will allow the community to participate through
chat and polling features.
Chair Tucker recommended the workshop include an announcement of the HEUAC's schedule for
reviewing sites in the Airport Area, West Newport Mesa, and the remainder of the City.
d. Affordable Housing Compliance
Recommended Action: Receive an overview of what "affordable housing" means in the
context of Orange County, as well as the new affordable housing requirements related to
the housing opportunity sites inventory. Discuss strategies for compliance.
Mr. Barquist defined affordability as the ability to pay based on income and housing cost.
Affordability is based on median family income (MR), which is calculated by the Department of
Housing and Urban Development (HUD) for each county. Orange County's MFI of $103,000 is high
in comparison to many counties in the state. RHNA assumes a family of four individuals. The
Housing Element is required to identify sites by income category. Affordability for a site is generally
based upon the density allowed for the site. According to the State, 30 dwelling units per acre is
the default density for affordable units. Sites can accommodate more than one income category.
The Department of Housing and Community Development (HCD) recommends a 15-30 percent
buffer for additional dwellings to cover no net loss.
Housing Element Update Advisory Committee Meeting
October 7, 2020
Page 6 of 8
In reply to Committee Member Selich's questions, Mr. Barquist indicated the City would have to
find sites to accommodate affordable housing that a developer does not build on a site designated
for affordable housing. Staff will track affordable housing sites and construction of affordable
housing. A subsidy could be a policy solution for construction of affordable housing.
Chair Tucker advised that most sites in Newport Beach are non -vacant, which is required for
housing in the lower -income range. Therefore, the substantial evidence rule will come into effect.
In answer to Chair Tucker's query, Mr. Barquist explained that different strategies and methods
can encourage property owners to redevelop their land.
Committee Member Selich remarked that the City cannot provide enough incentives, fee
reductions, or bonus programs to make up the deficit of constructing affordable housing.
Committee Member Fruchbom related that coastal cities have the most difficulty providing
affordable housing because their rents are higher than countywide rents, on which RHNA
requirements are based. He calculated a developer's loss in constructing a hypothetical one -
bedroom apartment unit at 50-60 percent AMI in Huntington Beach and in Newport Beach.
According to his very rough estimation, a bond measure levying $6,000 on every man, woman, and
child in Newport Beach could provide funding for affordable housing. Theoretically, it is possible for
tax credits and cheap land to fill a developer's deficit, but the demand for tax credits is immense.
The City could offer increased density in exchange for affordable units. In the past, he surveyed
the City for sites that could accommodate a development with affordable housing and found only
one site, City -owned land near the maintenance yard.
Chair Tucker questioned whether the State would accept a Housing Element that utilizes strategies
to achieve affordable housing allocations, regardless of the success of the strategies.
Committee Member Selich expressed concern regarding the no net loss requirement.
Chair Tucker suggested the no net loss requirement will have to be covered through an overlay
that requires affordable housing as part of a residential development.
In response to Committee Member DeSantis' inquiry, Mr. Barquist stated the City could use in -lieu
fees to construct affordable housing in other cities. Committee Member DeSantis noted UCI has a
fund for silent second mortgages on affordable housing. The City of Livermore and the County of
Marin are subsidizing mortgages to attract residents. Chair Tucker added that UCI is subsidizing
affordable housing located on UCI's property. He questioned whether the State would accept
affordable housing built in another city.
Mr. Barquist clarified that the Housing Element contains courses of actions that should achieve the
RHNA allocation. The specific details of those actions do not have to be included in the Housing
Element. To obtain affordable housing, the City could provide incentives or streamline permitting
for accessory dwelling units (ADU), increase densities, create affordable overlay zones, promote
the preservation of existing affordable units, or promote the conversion of market -rate units to
affordable units.
In reply to Committee Member Sandland's questions, Mr. Barquist explained the City's ability to
count affordable units when their affordable covenants, which are set to expire, are renewed.
Deputy Community Development Director Campbell reported the current Housing Element
Housing Element Update Advisory Committee Meeting
October 7, 2020
Page 7 of 8
contains a list of project sites subject to affordable covenants. Staff has registered with the State
to receive notice prior to the expiration of covenants. Theoretically, the City could negotiate with
property owners to pay for an extension of the covenants. Staff has contacted property owners
where the covenants were about to expire, and all property owners have rejected offers to extend
the covenants. Senior Planner Zdeba indicated covenants on 12 properties will expire during the
2021-2029 planning cycle.
In answer to Committee Member Selich's query, Mr. Barquist related that the no net loss
requirement applies to the entire RHNA allocation.
Chair Tucker commented that staff and consultants will provide the HEUAC with alternatives for
affordable units. The HEUAC will likely consider an inclusionary fee.
Mr. Barquist indicated HCD considers whether the Housing Element meets the spirit and intent of
the law and substantially complies with the law. Staff can discuss potential programs and strategies
with HCD prior to completing the Housing Element.
Committee Member ❑eSantis suggested salaries for Newport Beach jobs should be prominent in
the workshop discussion so that the community can relate to residents of affordable housing
Jim Mosher suggested staff clarify the statement that HCD considers a density of 30 units per acre
as suitable for affordable housing and the application of that density to the Newport Airport Village
project.
Deputy Community Development Director Campbell reported a site identified for affordable housing
must have a density of 30 units per acre. He recommended the Housing Element reflect the number
of affordable units proposed for the Newport Airport Village project rather than the maximum
number of units that could be built on the site. His recommendation would apply to the Newport
Crossings project and any remaining development in the Uptown Newport project.
e. RHNA Appeal Filing -Council Item for October 13
Recommended Action: Receive and file.
Chair Tucker remarked that the appeal lists retail commercial and industrial properties without
describing economic constraints on converting those properties to residential uses. He has
submitted language addressing that issue to staff. In determining the number of housing units
needed, the State did not consider the availability of land for housing.
Jim Mosher stated other cities will appeal their allocations and make arguments similar to Newport
Beach's arguments.
Deputy Community Development Director Campbell advised that a draft letter has been included
in the meeting packet and will be presented to the City Council on Tuesday along with a request to
authorize an appeal. The Southern California Association of Governments (SCAG) will convene its
litigation committee, which could mean SCAG is considering litigation regarding RHNA.
In answer to Committee Member DeSantis' query, Principal Planner Murill❑ reported the deadline
to submit an appeal is October 26, 2020, A 45-day comment period will follow the deadline. Once
the comment period expires, SCAG will hold hearings, which are estimated to last four to six weeks.
Housing Element Update Advisory Committee Meeting
October 7, 2020
Page 8 of 8
The appeal process is expected to conclude in late January or early February 2021. At that time,
cities will have their final RHNA allocations.
VI. COMMITTEE ANNOUNCEMENTS OR MATTERS WHICH MEMBERS WOULD LIKE PLACED
ON A FUTURE AGENDA FOR DISCUSSION, ACTION OR REPORT [NON -DISCUSSION ITEMy
Chair Tucker requested a presentation by the Kennedy Commission and a discussion of the
appropriate time for staff to contact property owners about building housing on their properties.
Committee Member DeSantis' requested a presentation by Renaissance Housing, an affordable
housing developer. Chair Tucker suggested that occur when the Affordable Housing Subcommittee
has information to share.
Committee Member Sandland requested Mr. Barquist provide an updated outreach schedule by
October 21, 2020.
VII. ADJOURNMENT — 8:23 p.m.
Next Meeting: October 21, 2020, 6 p.m. in the City Council Chambers.
CITY OF NEWPORT BEACH
HOUSING ELEMENT UPDATE ADVISORY COMMITTEE MINUTES
CITY COUNCIL CHAMBERS — 100 CIVIC CENTER DRIVE
WEDNESDAY, OCTOBER 21, 2020
REGULAR MEETING — 6 P.M.
I. CALL MEETING TO ORDER — 6 p.m.
II. WELCOME AND ROLL CALL
MEMBERS PRESENT: Chair Larry Tucker, Jeffrey Bloom, Susan ❑eSantis, Elizabeth Kiley,
Geoffrey LePlastrier, Stephen Sandland, Ed Selich, Debbie Stevens
MEMBERS ABSENT: Paul Fruchbom, (Ex Officio Member) Will O'Neill (excused)
Staff Present. Community Development Director Seimone Jurjis, Deputy Community Development
Director Jim Campbell, Principal Planner Jaime Murillo, Senior Planner Ben Zdeba,
City Traffic Engineer Tony Brine, Administrative Support Specialist Clarivel Rodriguez
Ill. PUBLIC COMMENTS ON NON -AGENDA ITEMS
Jim Mosher remarked that a loophole in the Housing Crisis Act allows people to merge lots and
demolish multifamily housing if the new development is limited to a single unit, which seems
contrary to the intent of the Housing Crisis Act.
IV. CONSENT CALENDAR
a. Minutes of the October 7, 2020 Meeting
Recommended Action: Approve and file the minutes of October 7, 2020
Chair Tucker advised that Mr. Mosher has suggested some minor corrections to the October
minutes.
Chair Tucker moved, seconded by Committee Member Selich, to approve the minutes of the
October 7, 2020, meeting with Mr. Mosher's revisions.
AYE: Tucker, Bloom, DeSantis, Kiley, LePlastrier, Sandland, Selich, Stevens
NO: None
ABSTAIN: None
ABSENT: Fruchbom
V. CURRENT BUSINESS
a. Presentation by The Kennedy Commission
Recommended Action: Receive a presentation from Cesar Covarrubias of The Kennedy
Commission followed by brief questions and answers.
Chair Tucker indicated The Kennedy Commission is an affordable housing advocacy group that
was founded in 2001. The Housing Element Update Advisory Committee (HEUAC) is interested
Housing Element Update Advisory Committee Meeting
October 21, 2020
Page 2of7
in hearing about strategies, policies, and incentives that will result in affordable housing
development.
Cesar Covarrubias shared information regarding median home price, household income,
affordability, and Regional Housing Needs Assessment (RHNA) allocations for Orange County.
Two cities in Orange County have specific policies for affordable housing and have met their RHNA
allocations in the very -low-income and low-income categories. Overlays and specific plans can
encourage housing as part of mixed -use developments. Institutional and church campuses are
potential sites for mixed -use concepts. The Surplus Land Act, a mixed -income housing ordinance,
an affordable housing strategic plan, housing opportunities zoning or an overlay, and an affordable
housing land trust support affordable housing. The Veterans and Affordable Housing Bond Act,
the No Place Like Home program, the Orange County Housing Finance Trust/JPA, the Orange
County Housing Trust, the Orange County Housing Bond 2020, and the Mental Health Services
Act can be used to fund affordable housing.
Chair Tucker commented that there are areas in the City where property owners may be enticed
to build housing on their properties. Policies that relax development standards and increase
allowed density can encourage housing development, but at some point increased density makes
construction costs infeasible.
Mr. Covarrubias suggested incorporating the City's housing objectives into an overlay or zoning
change. Changes to the State Density Bonus Law may result in more affordable housing. Office
buildings can be redeveloped with a more intense and intentional use. Adopting policies and
programs for affordable housing is essential to the development of affordable housing.
In answer to Committee Member SandIand's question, Mr. Covarrubias advised that The Kennedy
Commission is reviewing the potential for housing located in areas such as Banning Ranch and
portions of the Airport Area located within the 65 dB CNEL contour. Planning growth around
existing uses is challenging but doable.
In reply to Committee Member DeSantis' query, Mr. Covarrubias indicated he is aware of cities
discussing agreements to use funding from one city to build affordable housing in the other city.
However, he did not anticipate such agreements would work well because of each city's need to
fulfill its allocation for low and very -low-income housing.
In response to Committee Member Stevens' comment, Mr. Covarrubias remarked that if amenities
are located close to housing, residents will probably make fewer vehicle trips.
b. Orange County Mayors' Letter to the Southern California Council of Governments
(SCAG)
Recommended Action: Receive and file.
Chair Tucker felt the Mayors' letter could be more fruitful in reducing RHNA allocations than other
approaches. The public should be aware of the letter.
Jim Mosher inquired regarding the reasons for the Mayors of Dana Point and San Clemente not
signing the letter.
Housing Element Update Advisory Committee Meeting
October 21, 2020
Page 3of7
C. Subcommittee Progress Reports
Recommended Action: Receive verbal updates from each subcommittee, as appropriate.
Chair Tucker reported that the subcommittee for opportunity sites in the remainder of Newport
Beach met the prior day, and a report will be scheduled for the next HEUAC meeting. The
affordable housing subcommittee will review different approaches to obtain affordable housing at
different income levels and may craft an inclusionary plan.
d. October 20, 2020 Virtual Housing Workshop Recap
Recommended Action: Receive an overview of the first virtual housing workshop and
discuss any takeaways. Provide feedback or direction to staff and the consultants on any
changes or considerations for future workshops.
David Barquist, Kimley-Horn and Associates, reported 72 people participated in the workshop.
Analysis of feedback provided during the workshop is underway, and a report will be available via
the Newport Together website. Engagement occurred during the workshop and will continue
online. During the workshop, members of the public inquired about a no housing response to
questions. In light of the draft RHNA allocation for Newport Beach, the consultant team does not
believe a no housing response is practical. In subsequent stages of outreach, the team can explore
the most appropriate locations for growth and development and different types of housing. The
public can view the workshop and provide feedback on the Newport Together website.
In reply to Committee Member Stevens' question, Mr. Barquist advised that the team will explore
methods to obtain public input for individual opportunity sites during both in -person and virtual
meetings. Committee Member Stevens remarked that the interactive portion of the workshop was
easy and a good start to obtaining public feedback.
Committee Member DeSantis suggested future virtual workshops include more opportunities for
two-way communication. The presentations and polling were well done. The workshop could have
been longer to allow more dialog with the community. She emphasized the importance of creating
visions for opportunity areas while reviewing parcels in the areas. Mr. Barquist noted the difficulty
of sustaining the public's attention for an extended period of time. Engagement will build and
improve as the schedule progresses. The team is working with the City's Public Information Officer
to distribute information to the community through different avenues. The public and committee
members can assist by sharing links and posts to meetings and information.
Deborah Allen, Harbor View Hills Community Association President, advised that she discussed
the workshop with seniors at OASIS, a number of whom attended the workshop, and neither the
seniors nor she felt the technology was easy to use or the workshop encouraged community input.
The input may have been too structured for a community that is accustomed to voicing their
opinions. Questions have to have a no project response. if the goal is to obtain community input,
the public has to be allowed to express opinions.
Nancy Scarbrough noted 18 of those present for the workshop were staff and committee members.
The inability to converse was extremely frustrating. Future workshops need to be more interactive
with the public.
Jim Mosher concurred with comments regarding the lack of two-way communication. The
workshop did not mention HEUAC meetings, and the website does not list all HEUAC meetings.
Housing Element Update Advisory Committee Meeting
October 21, 2020
Page 4 of 7
Adriana Fourcher felt the workshop was not collaborative. In -person meetings with small group
discussions should be possible. She had some difficulty participating in the polling and did not
believe her responses were counted. Input from the business community is needed.
Melanie Schlotterbeck, representing Olen Properties, expressed disappointment with the repetition
of information during the workshop. She supported the use of breakout rooms during virtual
meetings to allow individuals to comment. There has been no mention of new and innovative
housing types and mixed -use development. Housing options need to include a range of sizes,
prices, and affordability. The City needs a vision for the Airport Area.
Hoiyin Ip suggested community groups will help distribute information about meetings and
workshops. One city in Orange County has been assessing in -lieu housing fees for many years.
David Tanner hoped the City would work with The Kennedy Commission to learn about the effects
of affordable housing on public services. Staff is intentionally misinforming the public regarding the
scope of the Housing Element Update by discussing only RHNA information.
Dorothy Kraus remarked that workshop participants were the usual group who attend or participate
in public meetings. Staff and the consultants need to use more traditional means to notify the
public about meetings.
Chair Tucker advised that the State has disrupted the City's planning process and shortened the
time for a planning process. Staff has not intentionally misled anyone. Public comments have
included some valid criticisms of the outreach process. The HEUAC is charged with preparing a
plan to comply with State requirements. Consequently, no development is not an option.
Committee Member Stevens related that the City's Public Information Manager asked the outreach
subcommittee to distribute information about the workshop, and the subcommittee sent emails to
almost 1,000 people. The community may not be interested in planning efforts.
e. Sites Rundown: Airport Area
Recommended Action: Review the list of potential sites and discuss feasibility. Solicit input
from the public on the list and the Committee's discussion.
Chair Tucker directed staff to begin contacting the owners of properties identified as feasible or
potentially feasible for housing. He assumed members of the public would agree with the
subcommittee's designations for sites as the public has expressed interest in locating housing in
the Airport Area. He reviewed the subcommittee's consideration of parcels 43, 113, 37, 69, 95, 87,
23, 70, 80, 81, 111, 9, 24, 131, 135, 38, and 79 and the Saunders site.
Committee Member Sandland suggested the parcel numbers for the Saunders site should be
provided. If the prohibition of housing in the 65 dB CNEL is relaxed, parcels 87 and 23 may be
potentially feasible rather than infeasible. Chair Tucker indicated the subcommittee may
reconsider designations for parcels located within the 65 dB CNEL if the prohibition is relaxed.
Committee Member Bloom commented that abandoning streets s❑ that parcels may be combined
would theoretically create more land and larger parcels. Parcels could be even more feasible for
housing. Chair Tucker clarified the comment as abandoning private circulation rather than streets.
Housing Element Update Advisory Committee Meeting
October 21, 2020
Page 5of7
Jim Mosher did not recall the HEUAC agreeing with the subcommittee's approach of not
considering parcels within the 65 dB CNEL. Based on the statement that the subcommittee is not
considering parcels within the 65 dB CNEL at this time, he inquired when the subcommittee would
consider those parcels. Chair Tucker suspected the subcommittee would consider those sites if
all other sites do not provide sufficient housing to comply with the RHNA allocation or if someone
proposes a project on a parcel within the 65 dB CNEL.
In reply to Chair Tucker's inquiry, Deputy Community Development Director Jim Campbell related
that a policy in the Noise Element of the General Plan states parcels within the 65 dB CNEL are
not appropriate for housing development. The Airport Land Use Commission would find housing
development incompatible with the 65 dB CNEL.
Chair Tucker reviewed the subcommittee's consideration of parcels 51, 72, 88, 71, 91, 122, 52,
138, 77, 68, 106, 121, 19, 33, 117, 116, 119, and 120.
Adriana Fourcher remarked that the dB rating pertains to jet traffic. Noise studies are needed for
small plane traffic because the departure pattern for small planes is over the parcels being
considered for housing. Deputy Community Development Director Campbell advised that the noise
contours are based on a composite of both runways and represent a 24-hour average of all aircraft
traffic.
Chair Tucker reviewed the subcommittee's consideration of parcels 66, 67, 83, 61, 62, 63, 76, 16,
105, 47, 31, 13, 99, and 104. The subcommittee omitted parcels 39 and 89, which are located
partially within the 65 dB CNEL. Parcel 39 is small, and the building on parcel 89 has been
refurbished. Therefore, parcel 39 is infeasible and parcel 89 is feasible.
Committee Member Stevens expressed concern that airplane noise was last studied and the CNEL
contours determined in 1985. Deputy Community Development Director Campbell indicated an
update of CNEL maps is not on the horizon. Staff could discuss the topic with Airport Land Use
Commission staff and provide a report to the HEUAC.
Chair Tucker reviewed the subcommittee's consideration of parcels 4, 1, 5, 6, 2, 3, 8, 9, 10, 11, 13-
16, 17, 12, 37-42, 43-69, 70, and 71-76.
Adriana. Fourcher advised that helicopters from a helicopter school and the Orange County Sheriffs
Office fly over the area and beneath the departure pattern for small planes. A noise study is
needed.
Chair Tucker reviewed the subcommittee's consideration of parcels 77, 78, 79, 80, 81, 82, 19, 20,
25-27, 31, 21-24, 28-30, 34-36, and 83.
Adriana Fourcher noted many property owners oppose the residential project proposed for the
parking lot of Koll Center Newport.
Melanie Schlotterbeck, representing Olen Properties, indicated parcel 19 is an Olen Properties
building and is not part of a residential project. The review of parcels focuses on site selection
rather than the integration of sites with their surroundings. She questioned whether sites would be
excluded if a property owner did not respond to a request for information. This is an opportunity
for the City to partner with landowners and developers to enact a vision for the area. The focus on
housing and not mixed uses is a lost opportunity to create a community. The Airport Area could
Housing Element Update Advisory Committee Meeting
October 21, 2020
Page 6of7
become a vibrant, walkable, bikeable, mixed -use, urban core that attracts a range of residents,
incomes, and opportunities. She encouraged the HEUAC to create a vision for the Airport Area.
f. Sites Rundown: West Newport -Mesa
Recommended Action: Review the list of potential sites and discuss feasibility. Solicit input
from the public on the list and the Committee's discussion.
Committee Member Selich noted the West Newport Mesa area contains medical office uses,
mobile home parks, various densities of residential uses, older single -story industrial/commercial
buildings, and a series of institutional uses. The subcommittee has discussed the need to preserve
opportunities for smaller -scale industrial and service businesses and recommends a zoning overlay
concept as some but not all parcels may convert to residential uses. It is important not to convert
everything to residential in order to have a well-balanced land use plan. He reviewed the
subcommittee's consideration of parcel 56 (Newport Health Care); parcel 27 (Ebb Tide); parcels
62 and 64 (Road & Track Building); parcel 63 (Coastline College); the private school site north of
parcel 50; the City Utilities Yard; the City General Services Yard; parcels 36, 116, 123, and 182
(four mobile home parks); the area bordered by Superior, 1511, and Monrovia; the area bordered
by Hospital Road, Placentia, and Superior; and parcels 12, 41, 42, and 49.
Commissioner Member Sandland suggested combining parcels 13 and 11 could result in a
designation of potentially feasible. Perhaps staff could send a letter to the property owners
inquiring about interest in building housing on the parcels. Committee Member Selich noted the
demand for medical office buildings is high at the current time. Committee Member Kiley concurred
with sending a letter as the owners can indicate no interest.
Chair Tucker advised that parcels 14 and 44 will be designated infeasible and parcels 13 and 11
will be designated potentially feasible.
Committee Member Selich reviewed the subcommittee's consideration of the small residential
parcels between Dana and Flagship; parcels 3, 39, 48, 117, 124, and 228; parcels 74 and 122;
parcels 24 and 40; parcels 17 and 51; parcels 2, 10, and 23; parcels 5-7, 9, 18-22, 26, 28, 29, 31-
34, 36, 37, 46, 47, 53, 55, 60, 61, and 227; parcels 4 and 16; and parcels 50 and 59. The HEUAC
may wish to consider contacting Hoag Hospital regarding construction of workforce housing in the
area.
Deputy Community Development Director Campbell advised that the business located on parcel
47 has some air quality issues and has installed equipment to hopefully resolve the issues.
Committee Member Stevens indicated the business has been reviewed for both ground and soil
contamination. The cleanup requirements for industrial uses are different from the requirements
for residential uses. The time and expense to clean up the site for residential uses may be
prohibitive.
An unidentified speaker appreciated the suggestion to contact Hoag Hospital. The small amount
of land available for construction is dismaying. The Mayors' letter may be the best approach to
seek a reduction in the RHNA allocation.
Housing Element Update Advisory Committee Meeting
October 21, 2020
Page 7of7
VI. COMMITTEE ANNOUNCEMENTS OR MATTERS WHICH MEMBERS WOULD LIKE PLACED
ON A FUTURE AGENDA FOR DISCUSSION. ACTION OR REPORT [NON -DISCUSSION ITEM}
Chair Tucker noted the subcommittee for housing sites in the remainder of Newport Beach will
report at the next meeting. He requested a discussion of inclusionary zoning and fees.
Committee Member Sandland requested a discussion of large employers that could support
housing.
VII. ADJOURNMENT — 8:53 p.m.
Next Meeting: November 4, 2020, 6 p.m. in the City Council Chambers.
CITY OF NEWPORT BEACH
HOUSING ELEMENT UPDATE ADVISORY COMMITTEE MINUTES
CITY COUNCIL CHAMBERS — 100 CIVIC CENTER DRIVE
WEDNESDAY, NOVEMBER 4, 2020
REGULAR MEETING — 6 P.M.
I. CALL MEETING TO ORDER — 6 p.m.
II. WELCOME AND ROLL CALL
MEMBERS PRESENT: Chair Larry Tucker, Susan DeSantis, Paul Fruchbom, Elizabeth
Kiley, Geoffrey LePlastrier, Stephen Sandland, Ed Selich, Debbie
Stevens, (Ex Officio Member) Will O'Neill
MEMBERS ABSENT: Jeffrey Bloom (excused)
Staff Present: Community Development Director Seimone Jurjis, Deputy Community Development
Director Jim Campbell, Senior Planner Ben Zdeba, Administrative Support Specialist
Clarivel Rodriguez
Ill. PUBLIC COMMENTS ON NON -AGENDA ITEMS
Deputy Community Development Director Jim Campbell reported 47 of 197 jurisdictions located
within the Southern California Association of Governments (SCAG) region have filed appeals of
their Regional Housing Needs Assessment (RHNA) allocations. Eighteen agencies in Orange
County filed appeals. Four agencies, including the City of Newport Beach, filed appeals against
the City of Santa Ana. The City has sent a letter to SCAG trying to get sponsorship of legislation
that will protect local jurisdictions subject to another agency's oversight.
IV. CONSENT CALENDAR
a. Minutes of the October 21, 2020 Meeting
Recommended Action: Approve and file the minutes of October 21, 2020
Chair Tucker noted Mr. Mosher has submitted corrections to the October 21, 2020 minutes.
Chair Tucker moved, seconded by Committee Member Selich, to approve the minutes of the
October 21, 2020 meeting with Mr. Mosher's revisions.
AYE: Tucker, DeSantis, Fruchbom, Kiley, LePlastrier, Sandland, Selich, Stevens
NO: None
ABSTAIN: None
ABSENT: Bloom
Housing Element Update Advisory Committee Meeting
November 4, 2020
Page 2of5
V. CURRENT BUSINESS
a. Subcommittee Progress Reports
Recommended Action: Receive verbal updates from each subcommittee, as appropriate.
Chair Tucker advised that the affordable housing subcommittee met to discuss methods for
financing and developing affordable housing projects. The subcommittee will prepare a report of
potential incentives to generate affordable housing. The Housing Element Update Advisory
Committee (HEUAC) may discuss the subcommittee's report during its December 2, 2020 meeting,
and the Council will determine which, if any, approach to pursue.
b. Sites Rundown: Remainder of Town
Recommended Action: Review the list of potential sites and discuss feasibility. Solicit input
from the public on the fist and the Committee's discussion.
Chair Tucker noted the report is in draft form and will be revised and attached to the agenda for
the next HEUAC meeting. Before any parcel is approved for inclusion on the sites inventory list,
the HEUAC will have to find that housing is a suitable use for the parcel. The intent of the review
is to narrow the number of sites that staff will investigate and the HEUAC will consider after
receiving public input. Sites that the subcommittee determines are infeasible or does not review
may later be determined to be feasible or potentially feasible and may be evaluated for suitability.
Sites may be brought to the subcommittee's attention and may be ultimately included in the sites
inventory after public input.
In reply to Committee Member ❑eSantis' questions, Chair Tucker related that defining feasible,
potentially feasible, and infeasible is more art than science. Crafting definitions other than those
previously stated is not possible. The feasibility determination for any site could change if the site
is viewed in the context of a vision for the area. However, the State form requires a listing of sites
by parcel number. Committee Member DeSantis believed a site inventory is a critical piece of the
Housing Element Update, but neither the HEUAC nor the community can provide adequate input
without a vision for the major opportunity areas. Seeking community input without providing a
vision is meaningless.
In response to Committee Member Fruchbom's query, Chair Tucker clarified Committee Member
DeSantis's position as the HEUAC should be doing more than reviewing sites. In order to begin
the planning process, the HEUAC needs to understand the source of traffic trips and where housing
can be placed.
Committee Member Stevens noted combining some sites could result in a designation of feasible.
Listing more than one parcel number per site on the State's form is probably acceptable.
Chair Tucker stated undeveloped sites listed in the sites inventory for the fifth cycle are considered
feasible for the sixth cycle. He reviewed the designations for Parcels 1, 2, 3, 4, 6-9, 10, 12, 11, 13,
14-17, 18, 19, 20, and 21.1.
Jim Mosher reiterated his request for staff to list the subcommittees and their members on the
webslte. He questioned whether the feasibility of sites pertains to technical or economic feasibility;
whether income level affects feasibility; the term "remainder of town" when the maps d❑ not show
all of Newport Beach outside the Airport Area and West Newport Mesa; and the numbering system
for parcels.
Housing Element Update Advisory Committee Meeting
November 4, 2020
Page 3of5
Chair Tucker explained that the term "remainder of town" resulted from the subcommittee's request
for staff to prepare information for certain sites. The subcommittee may have inadvertently
overlooked some sites. He reviewed the designations for the Dunes west of the lagoon and Parcels
22, 23, 24, 25, 36, 39, 40, 42, 43, 44, 35, 34, and 33.
Mayor O'Neill related that he as Mayor will send a formal invitation for the Irvine Company to
participate in the Housing Element Update process unless there are strong objections to doing so.
Chair Tucker and Committee Members Kiley, Stevens, Sandland, and DeSantis encouraged Mayor
O'Neill to send an invitation. Committee Member DeSantis proposed Mayor O'Neill send invitations
to Hoag Hospital, major employers within Newport Center, and churches that own large parcels.
Jim Mosher noted there is no analysis or conclusion for Parcel 37.
Committee Member Kiley clarified that feasibility for the sites pertains to the ability to physically
construct housing on a site. The property owners will determine whether housing is financially
feasible.
Chair Tucker reviewed the designations for Fashion Island and Parcels 30, 29, 27, 28, 31, 32, 114-
120, 122, 121, 105-109, 104, 110-113, 107 (the County bus depot), 98-102, 103, 91-97, 87-89, 77,
78, 80-86, 57-61, 63-76, 45, 47-56, and 52.
Committee Member Sandland proposed revising the designation for Parcels 98-102 and 103 to
feasible. The Irvine Company may be willing to discuss Parcels 46-54.
Debra Allen, Harbor View Hills Community Association President, reported the sight plane
ordinance applies to certain areas and limits building heights in those areas.
Jim Mosher remarked that buildings on Parcels 45 and 47-56 should not obstruct views from
Fashion Island Circle.
Chair Tucker reviewed the designations for Parcels 123, 124, 125, 126, 127, and 128.
Committee Member Sandland suggested the subcommittee explore the parcels across Pacific
Coast Highway from Parcel 22, the City's Avon parking lot, and the parking lot for Mariner's Square.
Committee Member Selich advised that Lower Castaways Park is deed restricted to parkland.
Chair Tucker noted the parking lot for Mariner's Square is subject to a height limit and located in
the Coastal Zone. In addition, the parking would have to be replaced.
Committee Member Kiley indicated a number of lots along the Peninsula and Bay are included in
the Housing Element for the fifth cycle and covered by paragraph 1 of the subcommittee's report.
Jim Mosher requested the maps reflect the sites listed in the fifth cycle. One or two housing units
could be built on a small lot; therefore, small lots should not be deemed infeasible based on size
alone.
Charles Klobe proposed contacting a developer that is constructing a residential project on a closed
landfill to determine if housing can be built on Parcel 128.
Housing Element Update Advisory Committee Meeting
November 4, 2020
Page 4 of 5
Johnny advised that night lighting around the Library and the Orange County Transportation
Authority bus depot needs to be brighter.
Mary Ann Soden encouraged the HEUAC to consider projects that provide housing for very -low,
low, and moderate -income households.
Chair Tucker reported Parcels 45-54, Avon parking lot, and the Mariners Square Parking Lot will
be added to the list as potentially feasible, and he will inquire regarding construction of residential
units on a closed landfill.
In answer to Committee Member DeSantis' query, Chair Tucker indicated the subcommittee will
explore an exchange of zoning for land on which 100-percent affordable housing may be built.
Committee Member DeSantis encouraged the affordable rousing subcommittee to explore those
possibilities so that the bulk of affordable units is not provided through inclusionary zoning.
Chair Tucker requested staff add the sites from the fifth cycle Housing Element to the map.
In reply to Committee Member Sandland's inquiries, Chair Tucker related that staff may prepare a
tabulation of acreage from sites designated feasible and potentially feasible after learning of
property owners' interest in developing housing. Deputy Community Development Director
Campbell advised that staff plans to send letters to property owners in the next few weeks and
follow up with property owners in an effort to obtain their responses by the end of the year.
C. Site Suitability Input and Community Engagement
Recommended Action: Receive an overview of the outreach plan moving forward, including
how the community will be engaged on the suitability of the sites that are identified as
feasible or potentially feasible. Provide feedback and direction to staff and the consultant
on the outreach plan.
Senior Planner Ben Zdeba reviewed public engagement opportunities in October through HEUAC,
City Council, and Planning Commission meetings and a virtual community workshop and in
November through HEUAC, City Council, and Planning Commission meetings, two virtual housing
suitability workshops, and a virtual Circulation Element workshop. The housing suitability
workshops will begin to consider density, which has policy implications. The public will be able to
comment verbally and through the chat box and to respond to polls during the housing and
Circulation Element workshops.
In answer to Committee Member DeSantis' questions, Senior Planner Zdeba advised that the
public may provide feedback regarding parcels identified by the subcommittee and other parcels
during the workshops. On the Newport Together website, community members may place pins on
a GIS map to indicate their preferences for locations of housing types. If the HEUAC agrees with
the plans for November workshops, staff will begin an extensive promotion of the workshops
through social media and email blasts. Committee Member DeSantis suggested posts and emails
contain a link to Newport Together and information about providing feedback through the website.
Senior Planner Zdeba noted a potential social media campaign to drive more traffic to the website.
The City's appeal of the RHNA allocation should be resolved in February 2021. If the City's appeal
is successful, the City's allocation could theoretically be reduced by half. Committee Member
DeSantis commented that focusing messaging on the needs of the community rather than a State
mandate could generate more community interest and feedback.
Housing Element Update Advisory Committee Meeting
November 4, 2020
Page 5of5
In response to committee Member Stevens' inquiries, Senior Planner Zdeba indicated the potential
housing sites will be divided between the two housing workshops. Activities utilized during the
workshops will be available on the website for the public to provide feedback after the workshops.
Staff has prepared a flyer promoting the workshops to distribute in the community.
Chair Tucker remarked that "none of the above" will not be a response to questions about locations
for housing because the City has to find enough sites to comply with the RHNA allocation.
Jim Mosher inquired whether the workshops will extend for the full two hours. He suggested staff
publish questions from the workshops ahead of the workshops so that community members have
time to consider their responses. Community members are less likely to provide feedback if they
feel it will not have a practical effect on HEUAC discussions and decisions.
Debra Allen suggested information for the workshops include a list of sites to be discussed in each
workshop and instructions for participating in polling and verbal and chat box comments.
Senior Planner Zdeba clarified that flyers will include a list of areas to be discussed in each
workshop. Discussion topics for the workshops will be published on the website prior to the
workshops. The workshops will extend for two hours unless the public completes their questions
and comments in less than two hours.
Mary Ann Soden concurred with requests for publication of workshop information and suggested
staff promote the workshop in print media and allow the community to participate in workshops
from the Community Room.
Chair Tucker advised that the HEUAC will not meet on November 18, 2020.
VI. ADJOURNMENT — 8:04 p.m.
Next Meeting: November 18, 2020, 6 p.m. in the City Council Chambers.
CITY OF NEWPORT BEACH
HOUSING ELEMENT UPDATE ADVISORY COMMITTEE MINUTES
ZOOM
WEDNESDAY, DECEMBER 2, 2020
REGULAR MEETING — 6 P.M.
CALL MEETING TO ORDER — 6 p.m.
WELCOME AND ROLL CALL
MEMBERS PRESENT (remote): Chair Larry Tucker, Jeffrey Bloom, Susan DeSantis, Paul
Fruchbom, Elizabeth Kiley, Geoffrey LePlastrier, Stephen
Sandland, Ed Selich, Debbie Stevens
MEMBERS ABSENT: (Ex Officio Member) Will O'Neill (excused)
Staff Present (remote): Community Development Director Seimone Jurjis, Principal Planner
Jaime Murillo, Senior Planner Ben Zdeba, Administrative Support
Technician Amanda Lee
PUBLIC COMMENTS ON NON -AGENDA ITEMS
David Tanner indicated the public has been told that they will get answers to their questions at this
meeting, but there is not an agenda item for this topic. He inquired as to when the public will have
an opportunity to ask questions and receive answers.
Hoiyin Ip remarked that virtual meetings are missing the energy of in -person meetings and
suggested more interaction with the public during workshops and activities before and after
workshops to get participants thinking about housing topics.
IV. CONSENT CALENDAR
a. Minutes of the November 4, 2020 Meeting
Recommended Action: Approve and file the minutes of November 4, 2020
Committee Member Sandland corrected the third paragraph of page 4 to read "Chair Tucker
reported Parcels 46-54, the Avon parking lot, and the Mariners Square parking lot will be added to
the list as potentially feasible, and he will inquire regarding construction of residential units on a
closed landfill."
Chair Tucker moved, seconded by Committee Member Sandland, to approve the minutes of the
November 4, 2020 meeting as amended.
AYE: Tucker, Bloom, DeSantis, Fruchbom, Kiley, LePlastrier, Sandland, Selich, Stevens
NO: None
ABSTAIN: None
ABSENT: None
Housing Element Update Advisory Committee Meeting
December 2, 2020
Page 2of7
V. CURRENT BUSINESS
a. Subcommittee Progress Reports
Recommended Action: Receive verbal updates from each subcommittee, as appropriate.
Chair Tucker reported the sites subcommittees have completed their work temporarily. The notes
for sites in the remainder of town have been revised. The affordable housing subcommittee met
on October 27, 2020 to discuss the Regional Housing Needs Assessment (RHNA) numbers and
preparation of a full report to the Housing Element Update Advisory Committee (HEUAC). The
purpose of the report is to educate the HEUAC regarding the various methods for financing and
developing affordable housing projects. Understanding the affordable housing business will help
the HEUAC reach a recommendation for the Council. Chair Tucker indicated he has prepared a
first draft of the report and sent it to staff for review. He will modify the report after staff's review, if
necessary, and circulate it to subcommittee members for revision. The report should be complete
in December.
In response to Chair Tucker's question, Senior Planner Ben Zdeba advised that staff is preparing
maps containing all sites and a list of properties from the fifth cycle that have not been developed.
Staff hopes to provide both at the next meeting as a "receive and file" agenda item.
Committee Member Fruchbom related that he read information indicating Shopoff sold an acre in
Uptown Newport for 66 luxury condominiums at an average price of almost $400,000 per unit or
more than $24 million for the real property. If the information is true and the City can create land
through increased densities, the land value of the units will be extraordinarily high and should allow
the City to extract some reasonable fees for added density.
Charles Klobe added that the Uptown Newport project is entitled for 66 luxury condominiums with
no requirement for anything less than above moderate, which should increase the price of land.
The entitlements that Picerne is seeking for the 4400 Von Karman project only allows 5% of the
total units to be low-income units while the apartments will be market rate.
Chair Tucker recalled Shopoff building a fair number of affordable units in the first phase of the
project and Picerne seeking a density bonus of 20 percent in exchange for either 10 percent low-
income units or 5 percent very -low-income units. Picerne chose 5 percent very -low-income units.
David Tanner asked about the validity of statements that staff is considering placing housing within
the 65 decibel (dB) CNEL contour and, if true, the rationale for doing that. It would seem to open
the City to litigation.
b. Virtual Workshops Recap
Recommended Action: Discuss the virtual workshops so far and takeaways from them.
Receive an overview of the outreach plan timeline moving forward and provide feedback to
staff and the consultant.
Senior Planner Zdeba reported the November 16 and 17, 2020, site suitability workshops obtained
community input regarding potential density, scale, and attributes that could be applied to sites and
the suitability of housing on the sites. Forty to 50 people attended each night, and dialog with the
public was greater during the second workshop. The November 23 Circulation Element workshop
included a good discussion with the community and solicited good feedback.
Housing Element Update Advisory Committee Meeting
December 2, 2020
Page 3 of 7
Jenna Tourje, Kearns & West, advised that the public provided good information through the chat
feature, and she shared that information with all participants during the workshop.
Chair Tucker noted participants could offer multiple comments and were not limited to one 3-minute
time period. Staff and the consultants have addressed the shortcomings of the first workshop.
In reply to Committee Member Sandland's inquiries, Ms. Tourje indicated recordings of workshops
are available on newporttogether.com. The team is preparing an after -action report that will include
key comments from the workshops and printouts of comments from the chat feature. The report
should be ready in the next week. The team can capture comments regarding specific sites.
In answer to Committee Member DeSantis' queries, Ms. Tourje related that the team has been
promoting the Newport Together website through ads, emails, and campaigns. Seventeen people
have provided input on the map. Many people have visited the website without providing feedback
on parcels. One thousand thirty-six unique IP addresses have visited the website over the past
month. Currently, there is nothing tangible to which the public can respond. Senior Planner Zdeba
added that the next utility bill will include a postcard regarding the January Circulation Element
workshop. Hopefully, the postcard will drive a little more traffic to Newport Together and generate
input. Staff is exploring contacting homeowners' associations (HOA) in the vicinity of the affected
areas to generate interest.
Deborah Allen, Harbor View Hills Community Association President, commented that staff has
attempted to make the process as transparent as possible and that she has heard good feedback
from participants in the second workshop. Contacting HOAs with a list of sites should generate
interest and input.
Nancy Scarbrough believed the format of the two workshops was much more interactive than
previous workshops. Twelve to 13 of the participants were staff and committee members, and
another ten were people who regularly attend public meetings. Some participants told her they left
the workshops early because they did not feel their opinions would affect the outcome.
Chair Tucker advised that he sent an email about the workshops to 75 people who were likely to
attend, and one email recipient attended the first night.
Adriana Fourcher encouraged the HEUAC to engage business owners in discussions of Airport
Area sites.
Committee Member DeSantis suggested presenting information about specific sites to HOAs
interested in those sites. Chair Tucker indicated the HEUAC needs to narrow the list of sites before
talking to HOAs.
C. Housing Element Update Progress Documents
Recommended Action: Discuss, receive, and file.
David Barquist, Kimley-Horn and Associates, reviewed the five basic components of the Housing
Element Update. Drafts of the Community Profile and Review of Past Performance components
have been prepared.
Chair Tucker advised that this item will come back at the next meeting for additional thoughts and
comments because of the substantial amount information contained in the documents.
Housing Element Update Advisory Committee Meeting
December 2, 2020
Page 4 of 7
Mr. Barquist indicated there will be a number of opportunities to comment on the draft documents
as the process progresses. For the Community Profile, the Government Code requires an
assessment of housing needs and an inventory of resources and constraints, specifically an
analysis of the population, employment trends, and household characteristics. The analysis tells
stories about the community and assists with the development of policies and programs that
address needs. The Review of Past Performance document evaluates the 2014-2021 Housing
Element goals, objectives, policies, and programs to determine whether they contributed to
attaining the State's housing goals and were effective in attaining the community's goals and
objectives, and to determine the progress of the City in implementing the Housing Element. Past
performance is a good basis for including policies from the fifth cycle in the sixth cycle. Many policy
changes will relate to new and emerging needs.
In response to Committee Member Stevens' question, Mr. Barquist related that census data will
not be available for this analysis. Much of the information is based on projections.
In reply to Committee Member DeSantis' inquiries, Mr. Barquist stated the HEUAC can discuss
specific policies and explore options at any time. The subcommittees and staff have already begun
the discussions. Chair Tucker added that the HEUAC and the public need to understand affordable
housing in order to stimulate ideas about meeting the RHNA allocation. The HEUAC may not need
to meet with affordable housing developers because one is a committee member. Talking with a
developer may not be appropriate as developers will compete for any sites the update process
generates. Committee Member DeSantis anticipated the HEUAC needing to explore the
parameters of an inclusionary zoning policy. Chair Tucker indicated committee members and the
public can ask questions about inclusionary zoning when the affordable housing subcommittee
presents its report.
Adriana Fourcher noted the population growth forecast for the City of Newport Beach is 8.4 percent
over the next 20 years. Meeting the RHNA numbers may result in more housing units than are
actually needed. Building housing in the Airport Area may displace jobs.
Chair Tucker noted the HEUAC is tasked with complying with the RHNA allocation.
Jim Mosher commented that if the HEUAC oversees the writing of the Housing Element with public
guidance, having an outline of the new Housing Element would be valuable. Misstatements of
facts in the two documents detract from the credibility of the documents.
Hoiyin Ip appreciated the interesting presentation.
d. RHNA Sites Identification Strategy
Recommended Action: Receive an overview of a strategy to comply with the RHNA
allocation through the sites inventory and alternative housing opportunities.
Mr. Barquist advised that Table B in the November 24, 2020 memo contains incorrect information.
In the very low column, projects in the pipeline should be 135, the total should be 146, and the net
remaining need should be 1,307. The text below the table will be revised accordingly. The City of
Newport Beach has been allocated 4,834 housing units and has to identify sites that can
accommodate that allocation through the planning period. After subtracting existing capacity,
projects in the pipeline, and accessory dwelling units (ADU), the City's net remaining RHNA
allocation is 1,307 very -low-income units, 831 low-income units, 1,022 moderate -income units, and
Housing Element Update Advisory Committee Meeting
December 2, 2020
Page 5 of 7
0 above -moderate -income units. The next step is to determine candidate sites that will
subsequently undergo evaluation of their suitability for housing. The HEUAC has identified a
number of candidate sites, and letters have been sent to the property owners to determine their
interest in redeveloping their properties. A number of property owners have responded to the
letters. Next, the net remaining need will be refined based on each property owner's interest in
redevelopment, site conditions and constraints, statutory limitations and constraints, and
prioritization of sites. Finally, the HEUAC, staff, and the community will begin to create policy and
programmatic solutions to meet the unaccommodated need.
In reply to Chair Tucker's questions, Mr. Barquist reported the number of housing units generated
by projects in the pipeline is correct, but the numbers are fluid due to assumptions. The law states
that cities must identify RHNA obligations by income category, but it does not require a developer
to identify affordability categories when developing a project. The City is obligated to ensure there
is no net loss when projects are developed. If there is a net loss, the City has 120 days to provide
rezoning that accommodates the net loss. Essentially, the City needs to accommodate more units
than its RHNA obligation to avoid the net loss scenario. The California Department of Housing and
Community Development's (HCD) general recommendation is to plan for 10 to 30 percent more
units than allocated. If the HEUAC determines sites will not accommodate the full amount of
growth, the Housing Element may contain a program of actions to address the deficiency. At the
time of adoption, the Housing Element may identify all sites to accommodate the RHNA allocation
or include a policy mechanism to identify all sites within three years.
Committee Member Stevens noted the City will need to create policies that encourage developers
to include more units in the very -low and low-income categories in their projects.
In answer to Committee Member Sandland's queries, Mr. Barquist related that sites will be divided
into the four categories. The sites inventory will list the seven descriptors for each site, and the
required HCD form will provide the information.
Committee Member Sandland stated some sites will have to be identified for 100 percent affordable
housing in order to meet the RHNA allocation.
Committee Member Kiley understood the HEUAC would identify sites, and the Council would
develop policies, including a policy to fund 100 percent affordable housing. The City previously
had a program that required developers to pay a fee for luxury residential developments, and the
City used the funds for affordable housing. The City of Irvine has a similar program.
Chair Tucker noted affordable housing projects typically provide 50 or so units rather than 400
units. Financing for 100 percent affordable housing projects is more complicated than financing
for any other type of affordable housing project. In -lieu fees are not sufficient to construct the
number of affordable units for which the fees are paid.
Committee Member Fruchbom advised that more than $0.5 billion would be needed to fund the
required number of affordable housing units. The shortfall for each affordable housing unit is about
$250,000. The problem is exacerbated by higher costs and rents in Newport Beach.
Chair Tucker highlighted the difficulties of meeting the allocation for affordable units.
Committee Member Selich viewed the excess number of above -moderate units as increasing the
total number of units needed. As developers build mainly above -moderate units and few very low,
Housing Element Update Advisory Committee Meeting
December 2, 2020
Page 6 of 7
low and moderate units, the City will be in a never-ending cycle of zoning for the no net loss
scenario.
Committee Member Sandland remarked that the City will have to look to property owners with other
economic interests. Perhaps employers and churches will be willing to give up a portion of their
properties for housing in exchange for a concession.
In response to Committee Member DeSantis' inquiry, Mr. Barquist reported the total number of
ADUs was based on the number of ADUs constructed in the City. HCD provides criteria for
affordability of ADUs located in the Southern California Association of Governments (SCAG)
region. The intent is to expand the opportunities for construction of ADUs through policies and
programmatic enhancements.
Committee Member DeSantis noted Vancouver has imposed a tax on vacant units to fund
affordable housing and has increased the tax three times in the past 12 months.
In answer to Committee Member Bloom's query, Mr. Barquist advised that the sites inventory does
not have to include the feasibility of developing a site. Whether or not a site is developed as
planned comes into play with the no net loss scenario.
Adriana Fourcher believed a tax or fee imposed to fund affordable housing would be passed to
consumers. Imposing a tax on vacant homes conflicts with the City's concerns about VRBO and
Airbnb. Property owners pay property taxes and should not have to pay a fee or rent their home if
they choose to take an extended vacation.
David Tanner suggested the HEUAC develop estimates of in -lieu fees for units in the different
affordability levels. He inquired about the penalty for the Housing Element not attaining its goals.
Chair Tucker indicated the answer to Mr. Tanner's question is probably unknown at this point.
Nancy Scarbrough asked if Mayor O'Neill has contacted the City of Irvine about sharing information
with the City. Chair Tucker indicated he has not received any information about it.
Jim Mosher remarked that Table B seems to reinforce the historical anomaly that Newport Beach
has great difficulty producing moderate housing units. He inquired whether the production of
moderate -income housing in Newport Beach is a real problem, whether the barriers are known,
and whether it can be corrected. Chair Tucker suggested increasing density to 50 to 60 units per
acre may generate moderate housing.
e. Formation of an Additional Sites Subcommittee
Recommended Action: Form an additional sites subcommittee to review the potential for
housing sites within the 65 dB CNEL contour in the Airport Area.
Chair Tucker reported a property owner has expressed interest in developing housing on his
property located within the 65 dB CNEL area. Building housing within the 65 dB CNEL is not
unlawful, but the interior noise level must be mitigated to below the noise threshold. The Mayor
has suggested a subcommittee explore the feasibility of developing properties within the 65 dB
CNEL contour.
Chair Tucker appointed Committee Members Sandland and DeSantis to the Additional Sites
Subcommittee.
Housing Element Update Advisory Committee Meeting
December 2, 2020
Page 7 of 7
David Tanner advised that the noise standard for the exterior living environment is 65 dB and for
the interior living environment is 45 dB. He suggested the Additional Sites Subcommittee consult
with a noise consultant or the City's CEQA consultant to learn the law on this topic. This will result
in nothing more than litigation for the City.
Committee Member Sandland was aware of apartment buildings being constructed within the 65
dB CNEL and adjacent to freeways in other cities.
Fred Fourcher indicated his office is located beneath the flight path of the left runway at John
Wayne Airport and outside the 65 dB CNEL area. He cannot have his windows open and conduct
phone calls because aircraft noise is too loud. The area is not hospitable for people attempting to
enjoy the outdoors.
VI. ADJOURNMENT — 8:25 p.m.
Next Meeting: January 6, 2021, 6 p.m. in the City Council Chambers.
CITY OF NEWPORT BEACH
HOUSING ELEMENT UPDATE ADVISORY COMMITTEE MINUTES
ZOOM MEETING, NEWPORT BEACH, CA
WEDNESDAY, JANUARY 20, 2021
REGULAR MEETING — 6 P.M.
CALL MEETING TO ORDER — 6 p.m.
II. WELCOME AND ROLL CALL
MEMBERS PRESENT: Chair Larry Tucker, Jeffrey Bloom, Susan DeSantis, Elizabeth Kiley,
Geoffrey LePlastrier, Stephen Sandland, Debbie Stevens, (Ex Officio
Member) Will O'Neill
MEMBERS ABSENT: Paul Fruchbom
Staff Present: Community Development Director Seimone Jurjis, Deputy
Community Development Director Jim Campbell, Principal Planner
Jaime Murillo, Senior Planner Ben Zdeba, Administrative Support
Specialist Clarivel Rodriguez
III. PUBLIC COMMENTS ON NON -AGENDA ITEMS
None
IV. CONSENT CALENDAR
a. Minutes of the December 2, 2020 Meeting
Recommended Action: Approve and file the minutes of December 2, 2020.
Committee Member Sandland moved, seconded by Committee Member DeSantis to approve the
minutes of the December 2, 2020 meeting as presented.
AYE: Tucker, Bloom, DeSantis, Kiley, LePlastrier, Sandland, Selich, Stevens
NO: None
ABSTAIN: None
ABSENT: Fruchbom
V. CURRENT BUSINESS
a. Subcommittee Progress Reports
Recommended Action: Receive verbal updates from each subcommittee, as appropriate.
In answer to Chair Tucker's inquiry, Senior Planner Ben Zdeba advised that the update of parcel
numbers for the map of the remainder of town and information for the 65 decibel (dB) Community
Noise Equivalent Level (CNEL) subcommittee hopefully will be ready on January 21, 2021.
Chair Tucker indicated that he will finalize reports for the Airport Area, the Hoag industrial area,
and the remainder of town and ask staff to attach them to an agenda. Committee Member Sandland
Housing Element Update Advisory Committee Meeting
January 20, 2021
Page 2 of 6
will report regarding the safety zones and the noise contour of the 65 dB CNEL area later in the
meeting, and the Housing Element Update Advisory Committee (HEUAC) will review sites in the
65 dB CNEL at the next meeting.
In response to Committee Member Stevens' inquiry, Committee Member Sandland stated there
are approximately 200 properties in the 65 dB CNEL area.
b. Housing Element Update Progress Documents
Recommended Action: Discuss, receive, and file.
Chair Tucker recalled that committee members did not have sufficient time to review the
voluminous Community Profile and Review of Past Performance documents provided for the
December 2, 2020 meeting. Consequently, he had requested this agenda item for committee
members to provide comments and ask questions.
C. Update on Property Owner Responses
Recommended Action: Receive an update from staff on the progress being made with
receiving responses from property owners of properties identified as either "potentially
feasible" or "feasible."
Chair Tucker recalled the HEUAC's desire to learn of property owners' interest in redeveloping their
properties prior to discussing the suitability of properties for redevelopment.
Deputy Community Development Director Jim Campbell reported that the letter attached to the
staff report was sent to several hundred property owners and some owners of mobile homes. Staff
has received many calls and some emails from owners.
Senior Planner Zdeba advised that he informs mobile homeowners who respond to the letter about
the Newport Together website to be involved in the process. Staff sent the letter to about 500
people, including mobile homeowners. Of note, Tait has expressed interest in redeveloping the
Coyote Canyon landfill site. Some property owners have indicated no interest in redeveloping their
properties. Staff does not attempt to change the property owners' minds but ensures they
understand the process and the opportunities. Staff has received mixed interest from property
owners in the Airport Area, Newport Center, Corporate Plaza, and the Dover Westcliff area. Staff
is compiling the responses in a spreadsheet.
In reply to Chair Tucker's inquiry, Senior Planner Zdeba estimated 50-75 property owners and
mobile homeowners have responded to the letter.
Deputy Community Development Director Campbell indicated that he has scheduled a meeting
with Tait Engineering to discuss preliminary concept plans and densities for the Coyote Canyon
site. The County of Orange (County), the landfill property owner, submitted a letter expressing
support for the effort. Russ Fluter, who owns the Palisades Tennis Club site and several properties
in Mariners' Mile, has expressed interest in redevelopment and offered to contact the Hyatt
Regency about the adjacent golf course. Owners of some of the mobile home parks on 151h Street
are interested in increased density. The owners of Banning Ranch continue to discuss the
possibility of public acquisition of Banning Ranch for open space. If that does not occur, the owners
will probably be interested in a project. Property owners in Cannery Village have responded to the
letter. While the lots in Cannery Village are small, they can accommodate at least one or two
Housing Element Update Advisory Committee Meeting
January 20, 2021
Page 3 of 6
residential units. The consultant will use the spreadsheet of property owners' responses in their
analysis of all sites to produce a draft list for the HEUAC in February.
In answer to Chair Tucker's questions, Deputy Community Development Director Campbell related
that staff can send follow-up letters to property owners who have not responded and whose
properties can accommodate a significant number of units. For the February 17, 2021 meeting,
staff can provide a list of acreages based on parcel sizes and propose some densities for
discussion purposes. Based on Tait's representations, the 32-acre site at Coyote Canyon is
technically neither a landfill nor habitat area. Staff is attempting to confirm that it is not included in
a Natural Community Conservation Plan (NCCP) / Habitat Conservation Plan.
In reply to Committee Member Sandland's and Chair Tucker's questions, Deputy Community
Development Director Campbell stated he will contact Newport -Mesa Unified School District
(NMUSD) about its property adjacent to Banning Ranch. Most of the NMUSD property is located
within the city limits. A letter was not sent to Hoag Hospital, but staff will contact Hoag immediately.
Senior Planner Zdeba clarified that letters were sent to NMUSD and Hoag Hospital.
Council Member O'Neill requested staff notify him of the date of the HEUAC's discussion of the
Coyote Canyon site as he needs to ensure community members are aware of the discussion.
In response to Chair Tucker's inquiry, Deputy Community Development Director Campbell
explained that staff intends to submit a draft sites inventory with a progress draft of the Housing
Element to the California Department of Housing and Community Development (HCD) in mid -May.
David Barquist, Kimley-Horn and Associates, reported the submission needs to contain all requisite
documents and analyses and should contain the majority of the City's policy direction.
In reply to Committee Member DeSantis' query, Deputy Community Development Director
Campbell indicated a letter was sent to the owners of the Newport Beach Golf Course, and they
have expressed interest in redeveloping the golf course for housing, particularly the portion located
south of Irvine Avenue. If the site is deemed suitable, its priority may be lower because of its
proximity to John Wayne Airport (JWA).
Dorothy Kraus requested the name of the entity that has expressed interest in developing Banning
Ranch and notification of discussions with Newport Banning Ranch (NBR) regarding a possible
project.
Community Development Director Seimone Jurjis clarified that staff is actively discussing some
level of development on the property with its owner, Newport Banning Ranch, LLC, as a backup
plan if public acquisition of the property does not occur.
Nancy Scarbrough noted the Banning Ranch and Coyote Canyon sites are located in the county
and inquired regarding the City or the County counting any housing units developed on the sites
toward the Regional Housing Needs Assessment (RHNA) numbers.
Chair Tucker believed the County owns the Coyote Canyon site, but it is in the city. The Banning
Ranch site is located almost entirely in the county. Deputy Community Development Director
Campbell clarified that housing on the portion of the Banning Ranch site located in the city can be
counted toward the City's RHNA. If the City annexes the remainder of the site, the City and the
County will negotiate RHNA issues.
Housing Element Update Advisory Committee Meeting
January 20, 2021
Page 4of6
In answer to Chair Tucker's queries, Deputy Community Development Director Campbell explained
that in order to count housing approved for the Banning Ranch site, the City has to show substantial
evidence that the housing will be built during the planning cycle. Given the Coastal Commission's
oversight of the site and annexation issues, convincing HCD that housing will be built may be
difficult. If the number of sites for housing is limited, development of the Banning Ranch site may
have to be considered. The City, Newport Banning Ranch, and the Coastal Commission are
discussing possible development of the least environmentally constrained portion of the site. He
indicated he has not received a response from the Irvine Company, but the Irvine Company may
have responded to Community Development Director Jurjis or the Mayor.
Council Member O'Neill advised that the Irvine Company contacted the City Manager, who
requested the Irvine Company respond in writing.
d. Affordable Housing Subcommittee Memorandum
Recommended Action: Discuss the draft memorandum and receive comments from the
Committee and the public.
Chair Tucker reported affordable housing is a very complicated issue. Virtually all affordable
housing projects are tied to 9% tax credits, which are allocated to each state on a per capita basis.
Each state allocates the tax credits to projects. Affordable housing projects compete for a limited
number of tax credits and typically seek multiple funding sources. Generally, a subsidy or incentive
offsets the reduced rent charged for an affordable unit. There are currently two federal programs
and one State program. Inclusionary housing ordinances are cities' efforts to encourage affordable
housing projects through granting entitlements, waiving fees, and/or altering development
standards. For an affordable housing project to be financially viable, the land cost has to be very
low. The no net loss law requires a jurisdiction to account for affordable units that are listed on an
approved sites inventory but not built as listed. The report contains policies and potential strategy
alternatives for the Council's and public's consideration. HCD has determined that 68% of the
accessory dwelling units (ADU) projected for the planning cycle may be credited toward the City's
lower -income RHNA number. The City will have to achieve a performance metric for construction
of ADUs or face repercussions.
Principal Planner Jaime Murillo advised that since 2018, 78 ADU applications have been approved
or are under review, which is approximately 25 ADUs per year. Over the next eight -year cycle, the
projection is about 200 ADUs. The projection will have to be supported by a policy that aggressively
promotes and incentivizes ADUs. Ultimately, HCD will want the City to commit to a monitoring
program and provide a backup plan if it fails to meet estimates for ADUs. HCD will accept some
assumed affordability rates for ADUs.
Chair Tucker remarked that if the City seeks a higher number of ADUs, it will need to implement a
program to promote ADUs. Some residents may be unhappy with the program if a neighbor
constructs an ADU such that it obstructs the light and air on their property.
Committee Member Kiley noted the projection of 25 ADUs per year does not consider the State
law that eliminates most restrictions on ADU construction. Principal Planner Murillo explained that
staff is debating the impact of the law on the number of ADUs with HCD. The number of ADU
applications was small in 2018, increased in 2019, and was quite large in 2020. Staff has
considered using the trend to exponentially increase the projection for ADUs. If the projection is
aggressively large, HCD will probably require monitoring and support for the projection.
Housing Element Update Advisory Committee Meeting
January 20, 2021
Page 5 of 6
Committee Member Stevens appreciated the affordable housing report because it simplifies a
complex issue. In response to her inquiry, Chair Tucker related that the total amount of 9% tax
credits is negotiated through Congress. Federal and state governments place regulations on the
use of the tax credits.
Committee Member Bloom related that Amazon recently announced a $560 million investment in
the preservation and protection of 2,300 units in the Seattle area. That is a subsidy of approximately
$243,000 per unit and demonstrates the magnitude of subsidies required for affordable housing.
Council Member O'Neill stated the City's RHNA for very -low-income units is 1,451. Using a loss of
value of $494,000 per unit, constructing the RHNA requirement will require almost $717 million in
subsidies. Chair Tucker clarified that the loss of value analysis in the report does not include the
value enhancement of the City granting entitlements for projects. A loss of value analysis is
nuanced and needs to be conducted for each project. The relevant point is that there is a limit to
the number of affordable units a project can provide and remain financially viable.
Hoiyin Ip remarked that some residents may not appreciate having a 100% affordable housing
project in their neighborhood. The California Energy Commission is hosting a conference about
sustainable affordable housing, and one of the topics is funding.
Chair Tucker clarified that 100% affordable housing projects and projects with a mix of housing
individually do not provide a large number of affordable units. In order to achieve the number of
affordable units in the RHNA, the City will need many market -rate units to subsidize the affordable
units.
In answer to Committee Member DeSantis' inquiry, Principal Planner Murillo indicated a property
owner related to him a cost of around $80,000 to convert a garage to an ADU. New construction
could cost as much as $200,0004300,000. Mr. Barquist advised that an estimate of $10,000 for
an ADU conversion is extremely low.
e. Update Schedule Moving Forward
Recommended Action: Receive an overview of the schedule moving forward and discuss,
as necessary.
Deputy Community Development Director Campbell reported on February 17, 2021, the HEUAC
will begin the policy discussion. A virtual public workshop is scheduled for February 24. Staff will
present a draft Housing Element Update to the HEUAC on March 17, the public on March 22, the
Planning Commission on April 7, and the Council on April 27. Once HCD provides its comments
on the progress draft, staff can schedule additional meetings.
In response to Chair Tucker's questions, Deputy Community Development Director Campbell
advised that the February 17 sites analysis discussion will begin with entitled projects that are
eligible for the Housing Element Update and a placeholder for ADUs and move to sites that can
provide units to fill the gap between the RHNA requirement and the number of units provided by
entitled projects and ADUs. The discussion will include property owner interest, densities, and
constraints. The progress draft needs to correlate policies and the availability of sites. HCD may
have difficulty understanding the breadth of housing policies if the sites inventory is not part of the
progress draft. The sites inventory will be refined over the summer. Also on February 17, staff will
present an initial narrative and outline of the project description for the Environmental Impact
Report (EIR).
Housing Element Update Advisory Committee Meeting
January 20, 2021
Page 6 of 6
Chair Tucker recommended scheduling an HEUAC meeting on March 3, 2021 to continue
discussion of the sites inventory and obtain additional public feedback.
Committee Member Sandland suggested moving discussion of the 65 dB CNEL area, including
safety zones and the contour, to February 3 to provide more time for the sites analysis discussion
on February 17.
In reply to Committee Member Stevens' question, Principal Planner Murillo reported the City's
appeal of Santa Ana's RHNA allocation was heard and denied on Friday. The City's appeal of its
RHNA allocation was heard and denied on January 19. Of the many appeals filed, the County of
Riverside's appeal is the only one to be granted thus far, and it may result in a small increase in
the City's allocation. The Southern California Association of Governments (SCAG) has not yet
determined if it will litigate the State's regional allocations.
Committee Member Kiley suggested discussions with the Irvine Company about further
development of Newport Center should be a priority. Deputy Community Development Director
Campbell indicated receipt of the Irvine Company's letter, depending on its content, will open
discussions between the Mayor, Community Development Director Jurjis, or Deputy Community
Development Director Campbell and the Irvine Company's executive management. Council
Member O'Neill clarified that the Irvine Company's communication with the City Manager appears
to indicate the Irvine Company does not intend to engage significantly in a discussion of the City's
RHNA allocation. Consequently, the City Manager requested a written response.
Committee Member DeSantis requested an update regarding housing legislation that takes effect
in 2021 and requested staff update and provide the memorandum of housing legislation prepared
for the General Plan Update Steering Committee.
Deputy Community Development Director Campbell advised that staff will explore updating the
housing legislation memorandum. An update regarding recent legislation can be scheduled for a
future meeting.
Chair Tucker preferred a legislative update focus on legislation that affects site selection and the
sites inventory.
VI. ADJOURNMENT — 7:49 p.m.
Next Meeting: February 3, 2021, 6:00 p.m. via Zoom.
CITY OF NEWPORT BEACH
HOUSING ELEMENT UPDATE ADVISORY COMMITTEE MINUTES
ZOOM MEETING, NEWPORT BEACH, CA
WEDNESDAY, FEBRUARY 3, 2021
REGULAR MEETING — 6 P.M.
CALL MEETING TO ORDER — 6 p.m.
II. WELCOME AND ROLL CALL
MEMBERS PRESENT: Chair Larry Tucker, Jeffrey Bloom, Susan DeSantis, Paul Fruchbom,
Elizabeth Kiley, Geoffrey LePlastrier, Stephen Sandland, Debbie
Stevens Qoined at 6:06 p.m.), Will O'Neill (Ex Officio) (joined at 6:03
p.m.)
MEMBERS ABSENT: None
Staff Present: Community Development Director Seimone Jurjis, Deputy
Community Development Director Jim Campbell, Principal Planner
Jaime Murillo, Senior Planner Ben Zdeba, Administrative Support
Specialist Clarivel Rodriguez
III. PUBLIC COMMENTS ON NON -AGENDA ITEMS
Jim Mosher expressed surprise to learn of an unscheduled vacancy on the Housing Element
Update Advisory Committee (Committee) and the qualifications for the position. The enabling
resolution does not contain a position with the qualifications listed for the vacant position. Also, the
enabling resolution designates the current Mayor as the Council's representative to the Committee,
and Council Member O'Neill is no longer Mayor.
IV. CONSENT CALENDAR
a. Minutes of January 20, 2021 Meeting
Recommended Action: Approve and file the minutes of January 20, 2021.
Chair Tucker moved, seconded by Committee Member Bloom to approve the minutes of the
January 20, 2021 meeting with revisions proposed by Jim Mosher, Hoiyin Ip, and Chair Tucker.
AYE: Tucker, Bloom, DeSantis, Fruchbom, Kiley, LePlastrier, Sandland
NO: None
ABSTAIN: None
ABSENT: Stevens
V. CURRENT BUSINESS
a. Subcommittee Progress Reports
Recommended Action: Receive verbal updates from each subcommittee, as appropriate.
Housing Element Update Advisory Committee Meeting
February 3, 2021
Page 2 of 6
Chair Tucker reported he provides the affordable housing memorandum to parties who contact him
about affordable housing. Based on comments submitted to him, he will revise the memorandum
and circulate it to the Affordable Housing Subcommittee for approval. In addition, he received
requested information for the memorandum pertaining to sites in the remainder of town after the
agenda deadline for the current meeting. Updated memoranda will be placed on the agenda for
the next Committee meeting.
b. Feasibility of Housing in the 65 dB CNEL and Subcommittee Action Report
Recommended Action: Receive an update from Committee Members Sandland and
DeSantis on their exploration of properties as being "potentially feasible, " "feasible, " or
"infeasible" within the 65 dB CNEL areas near the John Wayne Airport. Discuss the
analysis prepared and receive and file.
Committee Member Sandland advised that the subcommittee only considered parcels that were
physically able to accommodate housing in place of or in addition to the current use of the parcels.
Parcels were designated as feasible, potentially feasible, and infeasible. He provided the
subcommittee's criteria for designating sites as feasible, potentially feasible, and infeasible.
Parcels that are overlaid with a CNEL contour greater than 70 dB were deemed infeasible. The
Airport Land Use Commission (ALUC) has established Site Safety Compatibility policies. Zones 1
and 2, Runway Protection Zones, prohibit residential uses within the zones. Zone 3 is the Inner
Turning Zone. Zone 4 is the Outer Approach/Departure Zone, and the basic compatibility indicates
residential uses should be limited to low density. Zone 5 contains properties immediately adjacent
to the runway and prohibits residential uses. Zone 6 is called the Traffic Pattern Zone. The
compatibility policies state that residential land uses shall be allowed in this area. The
subcommittee considered these basic compatibility qualities and determined that Zones 1-5 would
be infeasible, and Zone 6 could be considered feasible or potentially feasible. John Wayne Airport
(JWA) and the City both utilize CNEL contours of 65 and 70 dB, and the subcommittee did not
explore alternatives. The subcommittee does not have all the facts regarding the various parcels;
therefore, the designations are subjective. Some of the parcels could be reclassified as feasible,
potentially feasible, or infeasible. Staff will contact the owners of properties identified as feasible
or potentially feasible. Before the Committee approves any parcel for the site inventory list and
after public input, the Committee would have to find that housing is a suitable use. Additional
deliberations regarding suitability will involve density and could involve development standards.
The subcommittee does not endorse housing on any particular site but has narrowed the list of
sites that staff will review and that the Committee will consider adding to the site inventory after
receiving public input.
Jim Mosher remarked that the 65 dB contour is very old. The actual contour changes with the flight
patterns of aircraft departing JWA. The 65 dB contour has contracted such that almost all of
Campus Drive is located outside the contour.
Chair Tucker noted the Committee did not consider the 65 dB area initially but may have to if sites
are needed.
Deputy Community Development Director Jim Campbell agreed with Mr. Mosher in that noise
contours change with traffic at JWA. For planning purposes, the adopted Airport Environs Land
Use Plan is the determining factor. Staff anticipates a change over time but not a remarkable
change. Some of these sites may be needed to fill a gap between required and identified sites.
Sites within the 65 dB noise contour may be the last sites included on the list because of noise.
Housing Element Update Advisory Committee Meeting
February 3, 2021
Page 3 of 6
Chair Tucker added that there may be more opportunities for more affordable units at these sites.
Brett Feuerstein, owner of a portion of the Newport Beach Golf Course, indicated the property is
located within the 65 dB CNEL and split between Zones 6 and 4. If the City needs to utilize sites
within the 65 dB contour, the property would be perfect for some type of residential use. Based on
his interpretation of the Airport Safety Zones, a residential use located in Zone 4 should have a
density equal to the average density of all surrounding uses. If needed, the property could provide
up to 100 units
Chair Tucker requested staff review the details of Zone 4 because the summary language for Zone
4 is confusing.
In response to Committee Member Kiley's inquiry, Mr. Feuerstein felt a density that provided more
than 100 units might be aggressive for Zone 4. The portion of his property located in Zone 6 could
provide up to 50 units per acre.
Committee Member Sandland reviewed the subcommittee's designations for Parcels 1, 1.5, 2, 3,
4, 6, 7, 8, 11, 48, 50, and 9. At the Committee's request, Committee Member Sandland only went
over Parcels 17, 19, 21, 22, 29, 24, 41, 41.1, 114, 115, 119, 122, 123, 124, 125, 126, 128, 129,
142, 141, 146, 147-155, 158, 163, 165-169, 156, 157, 159, 160, 161, 189, 190, and 191, which the
subcommittee designated as feasible or potentially feasible.
Committee Member Bloom noted that constructing a parking structure on the portion of the Newport
Beach Golf Course property located in Zone 4 and constructing residential uses on the portion in
Zone 6 may be feasible.
Committee Member Stevens concurred with Mr. Mosher's concern about relying on old data,
equipment, and aircraft and with Deputy Community Development Director Campbell's comment
that this is the data we are stuck with. The subcommittee handled the analyses well and found
some potentially decent -sized parcels.
Chair Tucker related that the Council will have to deal with the safety issue if units within the 65 dB
CNEL contour are needed to meet the Regional Housing Needs Assessment (RHNA) number.
Committee Member Sandland added that the subcommittee attempted to follow policies from the
Basic Compatibility Qualities.
Charles Klobe remarked that Mr. Feuerstein proposed low-income housing in the form of
condominiums and questioned whether Mr. Feuerstein understands that the Committee is looking
for low- to very -low-income units.
Chair Tucker clarified that some of the property may be condominiums, but they would not be
affordable housing. Nothing will be built if the burdens of affordability render projects infeasible.
The State will have to confront the low-income issues when it reviews Housing Elements submitted
by 197 jurisdictions.
Deborah Allen felt a residential project at the Newport Beach Golf Course would be wildly popular
with the Newport Beach community regardless of density and affordability because development
would constrain John Wayne Airport's (JWA) expansion.
Housing Element Update Advisory Committee Meeting
February 3, 2021
Page 4of6
C. Approach for Accessory Dwelling Units (ADU)
Recommended Action: Receive an overview of the possible approaches for using ADUs to
count towards the RHNA requirement.
Chair Tucker commented that ADUs as potential units are different from other housing types.
Assumptions have to be made in estimating the number of units that will be built. The City will
receive credit for ADUs at certain affordability levels that are quite attractive. The disadvantage to
ADUs is they may be built next to neighbors who are not expecting them. The Council will have to
set the policies.
David Barquist, Kimley Horn and Associates, reported the memorandum describes the process
and considerations for ADUs. Attached to the memo are the Southern California Association of
Governments' (SCAG) methodology and excerpts from the Site Inventory Guidebook developed
by the California Department of Housing and Community Development (HCD). ADUs are one
strategy to accommodate growth needs, and single-family residences and multifamily
developments will be needed to accommodate growth. HCD's approach to counting ADUs is called
the Safe Harbor Approach and utilizes historical trends to project a yearly average of production
over the course of the planning period. This approach eliminates the need to calculate affordability
levels. Supplemental policies and programs may be needed to encourage development of ADUs.
In response to Committee Member Fruchbom's query, Mr. Barquist indicated ADU production has
been approximately 25 units per year, and projecting that over the planning period provides the
City's Safe Harbor.
Mr. Barquist continued the presentation, stating the ADU unit yield is 200 for the planning period.
The City may take a more aggressive approach and adopt policies and programs that support a
more aggressive approach. HCD will review these aggressive approaches on a case -by -case
basis. The City is obligated to perform to the aggressive approach through the planning period and
should balance its vision with a realistic projection to avoid no net loss implications.
In answer to Chair Tucker's inquiries, Mr. Barquist explained that theoretically the City could
accommodate 4,834 ADUs. The question is the realistic number of ADUs that can be built during
the planning period because the City is obligated to produce that number of ADUs. The Council
will have to balance the tensions among the policies it creates for each type of housing. In his
experience, jurisdictions are utilizing the Safe Harbor Approach.
Principal Planner Jaime Murillo advised that housing laws require the City to plan and zone for a
variety of housing types and different densities. ADUs are viewed as an alternative to the sites
inventory. HCD staff has stated clearly that the Safe Harbor Approach is acceptable, but they are
open to an aggressive approach. Because the majority of ADU applications are pending in plan
check, staff has to ensure the ADU projections for the Safe Harbor Approach are appropriate. A
projection of 1,000 ADUs may be aggressive. While ADUs are allowed in any residential zone,
there has to be a demand for ADUs. HCD will likely request a monitoring program for an aggressive
approach. If the City does not meet its production targets, HCD will require the City to find
alternative sites.
In reply to Committee Member Stevens' queries, Principal Planner Murillo stated HCD will probably
not require monitoring for a Safe Harbor Approach. However, recent conversations with HCD staff
seem to indicate monitoring may be required for a Safe Harbor Approach. Mr. Barquist indicated
Housing Element Update Advisory Committee Meeting
February 3, 2021
Page 5 of 6
the City may adjust its zoning for other housing types if ADU production exceeds projections.
Basically, the City has to show it can accommodate its unaccommodated need.
In answer to Committee Member Sandland's question, Chair Tucker reiterated that the City would
have to justify its ADU projections regardless of the method for calculating the projections.
Committee Member LePlastrier indicated he is working with family members to plan an ADU. The
cost for a freestanding ADU is approximately $300 per square foot.
Committee Member Kiley believed a projection of 400 ADUs is realistic with the recent changes in
housing laws. An amnesty program for existing illegal ADUs could capture additional units.
Projecting the number of ADUs based on a percentage of single-family lots is reasonable.
Committee Member DeSantis concurred with the feasibility of a projection for more than 200 ADUs.
San Diego is exploring ways to provide financing and preapproved architectural drawings and site
plans for ADUs. Using best practices from other Southern California cities, the City should be able
to craft a program that will support an increase in the projections. Developing a program that makes
sense for Newport Beach, is supported by the community, and facilitates this is reasonable.
In response to Committee Member Kiley's inquiry, Committee Member DeSantis advised that staff
has access to the Turner report and the website for best practices.
Nancy Scarbrough supported an aggressive approach because there is no history for ADUs. With
education, Newport Beach residents would probably strongly prefer 2,000 ADUs over tens of
thousands of high -density units concentrated in the City. Once the City zones for high -density
projects, it will be impossible to reduce that zoning.
Charles Klobe supported an aggressive approach. The report indicates Newport Beach's historical
rent for an ADU is approximately half that reported in other jurisdictions. That history of low rent
should support an aggressive approach for low- and very -low-income ADUs. Achieving 2,000
ADUs over the next nine years is highly likely.
Chair Tucker commented that affordable units have to happen on private property, and private
developers are not going to lose money to build affordable housing. The construction of affordable
units just is not going to happen as designed.
VI. ADJOURNMENT — 7:42 p.m.
Chair Tucker noted on March 17, 2021 the Committee is scheduled to make a recommendation for
the Planning Commission and City Council to consider in April. The Committee will likely continue
working on the sites inventory after it makes a recommendation.
Deputy Community Development Director Campbell reported a first housing opportunities list will
be presented at the next meeting. A public workshop regarding the policy framework and the first
sites analysis is scheduled for February 241h. The process will repeat in March. The Council study
session on February 9, 2021 will include the RHNA appeal, the Committee's progress, and ADUs.
In answer to Committee Member DeSantis's question, Deputy Community Development Director
Campbell related that a workshop for the Circulation Element will be held on February 10.
Housing Element Update Advisory Committee Meeting
February 3, 2021
Page 6of6
Next Meeting: February 17, 2021, 6 p.m. via Zoom.
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public comments received regarding the Housing Element Update. Personal addresses and contact details
have been redacted for piracy.
A summary matrix of public comments to the Draft Housing Element is provided in this section.
Appendix C: Summary of Community Outreach (September 2022 Final Housing Element) C-14
City of Newport Beach -
2021-2029 HOUSING ELEMENT
Public Comments Matrix
The following table provides a summary of comments received during the 30-day public review period of the draft Housing Element
Update. The City has reviewed and considered these comments in the deve lopmentofthe revised Draft Housing Element.
Responses to community comments, as appropriate, are included in the table.
Public Review Draft Comments
Response to Comments
I have concerns regarding the low-income housing project. I picked Newport Beach to be my home for its
The City is obligated by
exquisite style and I pay a hefty tax fee to keep it this way. Adding low income housing will impact us negatively
state law to identify sites by
so please stop this project.
various income categories
throughout the community.
I assumethe "inventory area" is acreage, I see Banning Ranch is listed at 46 acres. Is this net acres, not
Net acreage is the assumed
inclusive of sensitive habitat? If this has not been vetted, the assumed density may not be accurate or
acreage used for calculating
comparable if you have to cram more units on less footprint.
unit yield and may be less
It doesn't seem logical to me to include Banning Ranch as 1 of 3 major focus areas (ie. Airport Area - 2,022
than total acreage of the
units, Newport Center- 1,814 units and Banning Ranch - 1,375). These are fairly comparable total net unit
site.
numbers, but the locations are vastly different. The Airport Area and Newport Center both clearly meet the
SCAG/RHNA requirements for focusing 50% on transit -oriented locations and 50% on those with job
Banning Ranch focus area is
accessibility. The allocation of units between these 3 areas doesn't seem to be proportionate to the goals.
identified in the current
Beyond this, Banning Ranchseems to be a much more environmentally sensitive area.
General Plan and is
Lastly, it seems very aggressive and unfeasible to propose 1,375 units on Banning Ranch afterthe last plan that
generally consistent with
Coastal Commission voted down was based on a developer -proposed "reasonable" number of 895 units.
the assumptions in the
Increasing the proposed unit target over what has already been rejected seems like an exercise in futility.
Housing Element Draft
We need housing. The Banning Ranch site needs to be considered. But perhaps it is more practicalto target
+/-895 units.
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
Please preserve our popular and irreplaceable community recreational asset that will be lost if you rezone the
Recreation, infrastructure,
Newport Beach Golf Course on Irvine Ave. nearthe airport. We love it and need it far more than more housing.
safety are examples of the
considerations when
identifying future feasible
housing opportunity.
Please vote against the re -zoning of Newport Beach Golf Course! This course is a staple within our community!
Comment Noted.
It creates great value and beauty within our neighborhoods. It would be such a disservice to remove any part of
the golf course!
With having such a year of staying home due to the pandemic I know of countless Newport families who have
enjoyed this [Golf] course and it's beautywhich helped tremendously with being able to be outside safely.
What a terrible shameto take it away! Please reconsider by maintaining Newport Beach's open spaces and
please don't bend to the pressure like other cities have succumbed to by jamming structures on top of one
another.
NO on rezoning golf course. Green space cannot be replaced. Our quality of life is at stake
Comment Noted.
Please do not rezone the Newport Beach golf course off of Mesa and Irvine. It will take awayfrom the
Comment Noted.
character of the community and city and we really don't have a lot of open space. I strongly oppose the low-
income housing or any additional housing for that area. That golf course brings a lot of joy to the below
average golfer who just wants to socialize and learn the game and that is a good thing for the sport as well.
We do not need any more high/medium density housing made out of cheap materials that are popping up all
Comment Noted.
over Newport Beach. They look like units that are designed for affordable housing placed on prime real estate.
Keep our green spaces exactlythat and create a park with recreational facilities for our families. We do not
need any more housing in Newport Beach. This just adds to more crowded living, traffic congestion, and
widening of streets.
We are stronglyagainst the rezone of Newport Beach Golf Course and want to see it remain as -is. It is an
Comment Noted.
irreplaceable community recreational asset. Changing this for residential will set a bad precedent for
development and elimination of othergolf courses, parks, sports fields, beaches, open space, Back Bay, etc.
Housing without such extremely negative impacts can be done with free market incentives by higher density
rezoning of existing residential/commercial but never on open space, a red line that cannot be crossed.
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
Please do not rezone the Newport Beach golf course off of Mesa and Irvine. It will take away from the
Comment Noted.
character of the community and city-- we really don't have a lot of open space. I stronglyoppose the low-
income housing or any additional housing for that area. That golf course brings a lot of joy to the below
average golfer who just wants to socialize and learn the game and that is a good thing for the sport as well.
I've lived in Newport since 1975 and I'm saddened by all the changes - it's alreadytoo crowded and this would
just add to it.
As a resident and neighbor in close proximity to the proposed location for rezoning on Birch St in Newport
Comment Noted.
Beach, I'd like to let my voice be heard and vote NO to the proposed changes. This area is an extremely high
traffic area. Cars can often be seen racing up and down the area. There is a lot of congestion in this area. It's
not an ideal corner for walking or stopping for an entrance. The golf course keeps the lands beauty and allows
for recreational ratherthan loading this high traffic area into an even bustier and more dangerous intersection.
There have been several deaths at this intersection and countless accidents. Having small children and being so
close we don't want to exacerbate the problem of high -density traffic when we are already challenged with so
many break-ins. In addition to keeping this portion of Newport Beach recreational is ideal. It really makes the
land desirable and beautiful considering we have enough traffic and pollution living next to the airport. Please
keep the space green & for recreational purposes. Please DON'T rezone holes 3-8 on the Mesa Dr side. This is a
popular and irreplaceable community recreational asset that will be lost if rezoning happens. For the good of
the community please reconsider and vote no to rezoning this gem.
I am reading the housing element, and I got to the bottom of page 72 here:
The additional information
https://www.newportbeachca.gov/PLN/Housing Element Update/March 10 2021 Draft/Section3 Ho
has been added to this
section and is provided in
usingConstraintsandResources.pdfAt the bottom of the page, the last sentence says, "Other programs that
affirmatively further fair housing and implement the Al's recommendations include:" But the next page is the
the Draft submittal to HCD.
next section. There is no list of programs.
I am against the City of Newport Beach changing the land use of the Newport Beach Golf Course and possibly
Comment Noted.
the YMCAto make way for new housing in the Bayview Heights neighborhood.
We do not want or need the zoning changed to make our area more dense. Our community is a small one
already and now you want to over build it and make it more dense. The city has already approved rezoning for
a multi storysenior care facility where Kitayama was on Bristol even though the neighborhood was against it.
3
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
Now you want to build 100's of houses on the others ide of our neighborhood on Mesa Dr. Where does it end?
It's a total money grab for millions of dollars once the land is sold for development. Plus, residents enjoy the
recreation facilities like the public golf course and the YMCA. The city is rezoning plenty around other parts of
Newport Beach so please leave the Back Bay alone so we may enjoy the little open space we do have.
I am not understanding "Element" I know the words land & housing. What is the proposal in plain language
"Element" is a term used in
that the city wants to do?
state housing element law
to describe the different
Chapters of the General
Plan. The General Plan is a
policy document adopted
by Resolution of the City
Council.
This is not going to happen...???? Howwhere and why? Can I build a 60 story 300 unit high rise oceanfront in
Comment Noted.
Com???
You get me the land I can get it built. ridiculous.
Can you add me to the City's mailing list so that I can receive updates regarding the Housing Element Update? I
Interested parties can
am a resident of Newport Beach and I work for a residential and mixed -use develope r/homebuilder, so I'd like
contact Citystaff or visit
to be involved in the update process and be a resource for the City in meeting their RHNAallocation.
www.NewportTogether.co
m to register for regular
updates.
WE ARE EMPHATICALLY OPPOSED TO NEW CONSTRUCTION ATTHE NEWPORT BEACH GOLF COURSE (Birch
Comment Noted.
Street/Mesa). This type of development will negatively impact our neighborhood on many levels.
Rezoning Newport Beach Golf Course, a popular and irreplaceable community recreational asset, for residential
Comment Noted.
will set precedent for development and elimination of other golf courses, parks, sports fields, beaches, open
space, Back Bay, etc. Housing without such extremely negative impacts can be done with free market
incentives by higher density rezoning of existing residential/commercial but never on open space, a red line
that cannot be crossed.
4
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
My mother is an over 50-year resident of Newport Beach. She does not use a computer but is interested in
Interested parties can
following the General Plan Update. Could you please mail her hard copy updates?
contact City staff if they
require special
accommodations.
My property is identified as site #161. Please withdraw or remove from consideration. I do not want my
By Council direction,
property changed in use or zoning from high rise office. I am not interested in very low-income housing. Do I
property owners who have
need to have an attorneyaddress this to insure that my site is removed from this plan and appendix B?
requested removal from
consideration will be
granted that request.
I know the Cityhas alreadyappealed this arbitrary allocation of housing units and was denied, but I'm
The Citywill continue to be
encouraging you to continue to push back.
actively involved efforts
Please tell us how we can unify as a group to counter this overreach and intrusion into a city's right to plan its
related to RHNA allocations
future.
and will proactively monitor
Do we have any legal options, or does this have to be fought from a political angle? For now, please only
local and state efforts
submit the minimum number of units required by RHNA. The more we can reduce the number of units we have
during and afterthe
to build, at the same time stretching out the years over which they are built, the more we will have a chance to
Housing Element Update
eliminate, or mitigate, the impact this forced housing will have on our community. We have many acres of land
process.
that are either unsuitable, or unbuildable, without major grading and destruction of beautiful natural terrain -
Coyote Canyon and Banning Ranch, to name two. If the number of availableacres is reduced due to inviability
The City is concurrently
(i.e. Coastal Commission or difficult terrain), does this reduce the number of units we're required to build?
updating the Circulation
Have we already counted all the affordable "over -the -garage" and "behind -the -house" units that may be un-
Element and will include an
permitted, but could be counted as housing units?
Environmental Impact
Report that will address the
Traffic, water and Resources:
potential impacts to traffic,
We can't handle the traffic we have now: many residents rate traffic congestion as their biggest complaint.
water and other resources.
Traffic from 4800+ housing units will only exacerbate this problem. If there is another water shortage like the
The Sites analysis, Appendix
one a few years ago, there will probably need to be rationing to provide for these additional housing units. Has
B, describes the intended
5
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
that been factored into the equation? Who is going to pay for the increased police, fire and emerge ncyservices
location of potential rezone
that we will be burdened with?
sites
Whereto put the initial housing:
Since the majority of these new units are to be moderate, low and very low income housing, this means higher
density and taller buildings. The area by the SNA Airport (where I live) would be the most logical and
appropriate area to put the majority of this high -density housing: it would be compatible with the multi -story
commercial buildings and hotels that exist there now. Also, this area's proximityto major freeways would
lessen the traffic traveling through our city. Please do not touch the Newport Beach Golf Course in the Back
Bay- our city needs these public recreational areas. Yachting,golf, tennis, hiking and outdoor activities are
central to our community. Please keep this housing away from the coast -there is already enough traffic
congestion there, as well as serious concerns and objections to higher buildings, increased density and
incompatibility with existing neighborhoods.
We stronglyoppose this [rezoning the NB Golf Course to build housing]! Irvine Ave has just recently been
Comment noted.
expanded from Bristol to Mesa and can not handle much more traffic during prime drive time. From Mesa to
University, it is always backed up. The traffic and negative impact will be horrendous.
I hereby voice my objection to the conversion of public land currently utilized as a golf course to multidwelling
Comment noted.
housing. This proposal is not in the best interests of the citizens of Newport Beach and any progress to move
forward with the transaction will result in alienating your constituents. The congestion that is already
significant along this stretch of Irvine Blvd, Bristol, 73 FWY and the other streets adjacent tothe Orange County
Airport will only increase with this rezoning. Please do not approve the rezoning of this area.
The Commission discussed among other things the Sight Plane Ordinance which is a protected view plane
The Sight Plane Ordinance
granted in 1971 by the Irvine Company to Harbor View Hills. It limits building heights in Corporate Plaza and
has been discussed with the
Corporate Plaza West to roughly 32 feet. The Planning Commission concluded the Sight Plane Ordinance states
City Council and is a
a long established City Policy that should be maintained and protected in the zoning or design standards for re-
consideration in the
development in the area it covers when the housing element is adopted. Please protect the Sight Plane
identification of opportunity
Ordinance.
sites and future rezoning
actions.
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
NBGC owner wants big property value increase by using State housing mandate to get otherwise impossible
rezoning from golf course to high density residential but NBGC is more popular and profitable than ever with
good return on investment
Comment noted.
Housing Element has many existing commercial and residential zone properties with free market incentives for
high density housing without the many negative impacts, consequences, and ramifications of developing the
golf course:
1. loss of golf course and open space
2. sets precedent for development on other golf courses, parks, sport fields, and open space.
3. consideration of new housing directly under flight path contradicts many years NB working for curfew,
for noise reduction, against increased flights, against airport expansion, etc. andwill make opposition
to future airport development less credible and effective.
4. new housing under flight path contradicts when airport impacts were used to justify eminent domain
taking of many neighborhood homes for Birch St office development.
5. elimination of front 9 would reduce viability of existing 18-hole golf course and open the door for
development and runway extension on driving range parcel and County owned back 9.
6. inappropriate use of recreational open space for residential will generate public opposition to entire
Housing Element plan
Please remove NBGC from Housing Element list before going to the next review level, maintain golf course
protective zoning, keep one of the good reasons we enjoy living here, and save us all time energyand
frustration dealing with this completely unacceptable proposal.
One of the beauties of our area is the surrounding recreational/open space. This zoning is for the benefit of not
The Housing Element
only our neighborhood but for all Newport Beach residents, surrounding communities and visitors alike. If the
identifies candidate sites for
proposed rezoning is approved the impact would destroythe intent that was meant for the entire community
potential rezones. State law
to enjoy. I urge you NOT to consider the proposed rezoning.
obligates the Cityto identify
adequate sits to
accommodate future
project housing need.
7
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
The Newport Beach Golf Course is part of the community. A place where the community can come together
Comment noted.
amidst all the chaos and enjoy the outdoors. A place where families and residents alike can spend a day on the
course with no worries. I stronglyoppose the rezoning efforts and hope CityCouncil rethinks this change.
I live close to the proposed location [NPB golf course] and am extremely concerned about all of the problems
Comment noted.
resulting from the congestion that this proposal would cause. Please do NOT rezone this area and remove this
proposal entirely from this location. It simply cannot supportthe increase in traffic and other related issues.
Our specific concern and opposition relates tothe parcels located near and on the current public golf course on
Comment noted.
Irvine Avenue, Birch, and Mesa streets.
1. Our neighborhood already experiences speed and traffic issues, whetherfrom speeding neighbors or
those businesses (delivery or adjacent) using our adjoining streets to bypass traffic on Irvine, Birch, or
Bristol. More housing will only contribute tothose safety risks. It is unclear how related circulation
and transportation plans would evolve as part of the drafted/planned developments. Our immediate
community has witnessed at least a half dozen traffic -related deaths in the immediate area, including
pedestrians, motorcyclists, and auto drivers. We've even witnessed a helicopter crash that killed three
and plane crash that also killed three nearby. As you know, the proposed development is directly under
the flight path of flights from J WA.
2. We live in a beautiful City whose residents value open space and the natural areas in, around, and
through our neighborhoods. Replacing the open spaces with residential or commercial development
will further impede into and degradethe City's natural habitats that make us unique, robbing our
families of the public space experience we've come to enjoy and hold dear.
3. Significant environmental impact can be expected not just in the area currently defined by the golf
course, but to the watershed feeding to and from the Back Bayand the natural preserve surrounding it.
4. While it is unclear how any of the development and infrastructure will be funded, we are concerned
our families will bear some financial burden in supporting the potential developments.
Development of any portion of the golf course is not a solution we can or are willing to support. Please help us
in preserving the City we want to commit to in the long term.
I do not support the near 100% buffer and the inclusion of almost 10,000 units in the Housing Element. I
The Housing Element
understand the need for a buffer, but not more than 15-20%. I would rather see us have to review/revise our
identifies potential sites to
w
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
Housing Element in a few years, as opposed to suggesting that an extensive amount of existing commercial
accommodate future
areas be converted to residential (or mixed uses). I would like to seethe path that other cities take, review
projected growth and does
comments from HCD, and see if there area ny changes instate law before the City makes this kind of drastic
not represent actual
move. Newport Beach is not alone in its concern with the RHNA allocations and requirements. I disagree with
construction. Sites
moving forward with the planning efforts to allow this many housing units.
identified in the Housing
Element mayor may not be
utilized in future rezoning
efforts.
The buffer is used to protect
the Cityfor the implications
of no net loss provisions in
state law.
There is currently nothing to cap the number of housing units that could be constructed in the Housing
The potential overlay zones
Element to 4,845 units. Before the Housing Element is approved, those caps must be in place, e.g., zoning
or other appropriate zoning
overlays that limit the development in each study area of the city. I believe those overlay zones should
tool will be adopted
recognize existing ordinances. For example the City's Sight Plane Ordinance, (#1596) that limits the height of
subsequent to the Housing
all buildings and landscaping to a maximum of 32 feet which applies to the sites in Corporate Plaza, Corporate
Element. Provisions related
Plaza West, and CdM Plaza should be identified.
to existing policies will be
considered as these
amendments are made in
the future.
I believe that we should be more aggressive in the use of ADUs and JADUs to help reach our RHNAgoals. While
The accommodation of
I don't think we can meet our entire RHNAgoals with ADUs, I believe the number should be at least double the
RHNA need is identified in
334 units that are currently shown in the Housing Element. This topic has been discussed a number of times at
the Housing Element by a
the Housing Element Update Advisory Committee meetings and there appeared to be general support for an
variety means including
increase into the 700-800-unit range. The laws regarding ADUs have recently been implemented and are
overlay zones, existing
beginning to be used more widely throughout the City. I think we should take advantage of that in our Housing
0
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
Element and that 700-800 ADUs would be easily achievable. Inaddition, an active program toencourage and
entitled projects, available
look for unpermitted ADUs should be implemented to take credit for existing, unpermitted ADUs. Since ADUs
vacant land and ADU's.
are by definition 47% low-income, it's very helpful to our RHNA compliance without impacting any one area of
The policy program contains
the City.
a policy addressing
unpermitted ADU's.
The goal of the State in developing the RHNA numbers has been to provide a better housing/jobs balance so
As a built -out community
that people do not need to drive large distances togetto work. The strategy inthe Housing Element has been
with severelylimited vacant
to find undeveloped space, primarily in commercial areas of the city, for development of low-income housing
land, the majority of new
(since the city is largely developed). If we rezone our vibrant commercial areas for residential development,
development opportunity
we potentially reduce the employment opportunities and further impactthe housing/jobs balance. I would like
will occur on infill, existing
to stress this point to the state.
developed parcels.
I remain concerned that more housing has been suggested inthe industrial portion of the City. Specifically,
As a built -out community
identifying a metal plating facility (Hixson) that is contaminated and undergoing remediation as a potential site
with severelylimited vacant
for housing and increasing housing near the site, is very poor planning and potentially dangerous. While the
land, the majority of new
site will likely be remediated, it is doubtful that it would be availablefor residential housing anytime soon.
development opportunity
will occur on infill, existing
developed parcels.
We have watched our neighborhood start to transition from an 'empty nester' community to now a 'family'
Comment noted.
community. Adding a large "low income" apartment complex where open green space is currently located
makes no sense from the perspective of creating a family community atmosphere. The more recent families
making up our neighborhood have kids that enjoy the 2 parks on Mesa Drive along with the horse trails
adjacent to the canal that butts up to the apartment site. This is a disaster waiting to happen and we are
totally against it.
I am opposed building 100's of units where the golf course back nine is now. Keep our open space!
Comment noted.
The rezoning of the NBGC front 9 to low income housing is a seriously bad idea. This area is directly under the
Comment noted.
flight path of John Wayne Airport, falls within an upscale residential community and adds to the overall
congestion we experience every day in the area. This is literally the opposite of progress. Why not purchase
the property instead. Leave it a golf course or park. Contribute to the natural environment. We don't want to
10
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
see more cars, trash cans and congestion. This is Newport Beach. Not a place that really needs low income
housing. Plenty of that exists in ruined communities already like Santa Ana, Anaheim and Garden Grove. Our
area alreadysuffers from poor leadership associated with airport expansion.
I am adamantly opposed to such a move [rezone part of the Newport Beach Golf Course]. I oppose a housing
Comment noted.
project there, and any rezoning of this area ... and urge you to take the housing item off the table at this
location.
I remember losing the Bayview Elementary School on the bluff to high density housing townhouses. And now
many of our streets have been rezoned to office buildings. The Newport Beach Golf Course is not only an
integral part of our community, but a welcomed breath of fresh air and open space for everyone to come
enjoy. It's also one of the very few or only affordable golf facilities open to the public in this area for families to
learn and enjoy the game. And it provides a much -needed attractive relief to the corner of Irvine Ave and
Mesa Dr. I strongly urge you to leave the Newport Beach Golf Course as it is for all to enjoy, and to maintain
the aesthetics of our community.
It is hard to briefly summate why all the reasons that turning the golf course into a high -density low-income
Comment noted.
housing project is a bad idea. Some of the more apparent issues are CEQA related in terms of noise and traffic.
Also, removing the only affordable public golf course in Newport Beach is sad to consider. I understandthere
may be housing mandates but the folks at this end of town seem to take on an unreasonable burden for solving
these types of issues. Please remove this property from consideration.
I stronglyoppose the golf course housing project. We want to preserve this are as it is not expand it.
Comment noted.
Absolutely not!
As a local resident and taxpayer, I am against this rezoning [of the Newport Beach Golf Course for high density,
Comment noted.
low income housing] and am highly concerned about the traffic issues that will compound to an already busy
area. We witness at least 1 major accident a month that occurs on the corner of Mesa and Santa Ana and can't
imagine how many more there are that we do not see while we are at work. This rezoning is not good for the
overall local community, traffic, and safety. I DO NOT support this rezoning and truly encourage to reevaluate
this decision.
I am completely against the rezoning of the Newport Beach golf course!!! No more High -density housing!!! I
Comment noted.
live off of Mesa Dr. The traffic alone is unbearable, my son was hit by a car, due to excessive parked cars on
11
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
Mesa Dr. from overflow parking of high -density housing. I can't even pull out of my street without taking a
chance of being hit.
I'd like to voice my opposition to any plan to rezone the golf course and build high density housing to replace it.
Comment noted.
Please take this location off consideration. Bayview Heights has alreadygone through a lot of rezoning with
office buildings all around us. We want to continue to enjoy and use the open space of the golf course. We like
having open spacejust like other communities around Newport Beach. Please stop picking Bayview Heights to
rezone.
I am against any rezoning or development to any portion of the Newport Beach Golf Course.
I stronglyoppose the rezoning of the Newport Beach Golf Course - holes 3-8 (lots 23,24,25,26) and the golf
Comment noted.
course project. Please take this housing item off the table at this location. Bayview Height is special and unique
to all who live here. Living here, we put up with the airport noise and office buildings all around us. Now you
want to get rid of our open space (NB Golf Course) and subject us to high density housing. Many people use the
NB Golf coursefor great recreation. It will be a great loss to our community. We want to keep the golf course
as open space so it can continue to be utilized as an affordable recreational area. Please rethinkthis. You are
trying to develop too much in the airport area. We are a small neighborhood, please do not overcrowd us with
high density housing.
My wife and I are ADAMANTLY OPPOSED tothe potential rezone of the Newport Beach Golf Course to a
Comment noted.
development for low income housing. The Cityof Newport Beach would be better suited to re -developing this
location to one that supports the existing population of the city and creates tax dollars and/or a location that
will support further business growth. Low income housing developers will "Sell" cities on the needs of low
income housing because it is a business for them to take government funds to build these projects that PAY
THE DEVELOPER, but DO NOT SUPPORT A NEED for the Cityof Newport Beach. A low income housing project
would do nothing for the actual economy of people who live here other than bring in a body of people who will
further their political agenda with voting rights within the Cityof Newport Beach and the attorneys they bring
with them. We are ADAMANTLY OPPOSED and will vote against this zone change as well as their supporters at
every voting opportunity.
12
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
We know the issue of affordable housing is a big item in our State, and the State of California is imposing edicts
Comment noted.
on many Cities in regard to this. Please slow down this City-wide housing issue so as to gather more facts, more
citizen input/ comments and studythe issue.
In regard to our Bayview Heights/Santa Ana Heights Neighborhood, we have seen the details and the housing
Comment noted.
count of what could be planned and installed on the golf course area, i.e. holes 3 - 8 (lots 23, 24, 25, 26). This
has the potential for hundreds of units to go up in the golf course area. We do not want this!
We very strongly oppose this golf course housing project, oppose any rezoning of this area, and demand that
you take the housing item off the table at this location. The golf course is currently zoned SP - 7. That means,
"Open Space and Recreational District: SP-7 (OS/R) - Open Space and Recreational District is intended to
establishthe long-term use and viability of the Newport Beach Golf Course."
Our family opposes the re -zoning of the NB Golf Course area to build high density low-income housing on Mesa
Comment noted.
Drive.
We've always focused on the Bayview Heights equestrian neighborhood for its open space and the
neighborhood itself, the safetyfor our 2 year old and soon -to -be -born second child, the schools, the
cleanliness, the community, the slower paced feel you don't quite get in the hustle bustle of the peninsula. This
will absolutely affect our health and safety, it will increase traffic, impact the environment (the natural
preservation of the Back-Bayarea), and it will affect our schools and my kids' education. I am by no means
opposed to low-income housing. I understand the need and support the fact that Orange County should
provide more of it. Please find an alternative location and remove this housing item off the table at this
location.
I am writing to you today to express my extreme opposition to turning the front seven holes of our golf course
Comment noted.
into public housing. It makes absolutely no sense to take away recreational and park areas from the public
mainly becausethe population density in the surrounding areas are already increasing at an alarming rate and
we will need all the open spaces we can get to make sure people have a place for relaxation and recreation.
It is well known and well published that affordable housing should never be concentrated in one area as
The Housing Element
originally contemplated in the Airport area. Historytells us that this can lead to significant problems within
responds to the
communities. The concept of in -lieu fees appears to contribute to this problem. Have we conducted a study
requirements of AB 686.
by an affordable housing professional that tells us how to allocate low-income and market rate units
Council direction has
13
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
intelligently throughout the City in a way that will address this concern? This high concentration will only
indicated the desire for a
serve to undercut present efforts underway to revitalize the area, undermine existing property values and, in
more equitable distribution
turn, result in an unfair and inequitable impact to area businesses and landowners. Please note that Assembly
of units citywide. The sites
Bill 686 (2018) establishes anew mandate to "affirmatively further fair housing." The California Department of
analysis has considered
Housing and Community Development has explained that this new law must "ensure that sites zoned to
these factors.
accommodate housing for lower -income households are not concentrated in areas .. . but rather dispersed
throughout the community, including in areas with access togreater resources, amenities, and opportunity."
The City has policies in place today that require developers to provide affordable housing as part of what would
The policy program provides
otherwise be a market rate apartment project. These deals are referred to as mixed -income projects. For-
for a variety of methods to
profit affordable housing developers prefer mixed -income projects and are financed through private capital
achieve a balance of
and a public subsidy, if needed. Nonprofit developers do not have access to private capital and build what the
affordability levels to meet
government is willing to subsidize. Today in California, that is Extremely Low affordable housing and housing
existing and projected need.
for the homeless. Have we studied the value of creating public policy to allocate affordable housing and
The policy program also
market rate units intelligently throughout the City in a way that will attract mixed -income, for -profit
includes provisions to
developers, and how arewe reflectingthat in our RHNAallocation? You would not have to look any further
explore inclusionary policy
than our One Uptown Newport property as a successful mixed income development providing affordable
to further explore
rental units (based on 50% of OC median
proportional mix of
income) for 20% of the property's residents in Orange County's most affluent city. Our recommendatio
incomes.
n is to create a fair and proportional mix of 60% market and 40% affordable
(low and moderate incomes) ratio equally in high opportunity locations which have the capacityfor
multifamily housing and are consistent with good urban land use planning. In our opinion those areas are the
Airport, Newport Center, Coyote Canyon, and Banning Ranch.
The proposed densities are not based on product that can actually be built from a development perspective.
Future implementing
Three storygarden product at most can achieve 30 units to an acre. Moving up the density scale is Type V
revisions to the Zoning Code
wrap product which jumps to approximately 55 units to an acre. Type II I wrap will provide approximately 75
will consider a varietyof
units per acre (Newport Crossing). Type V podium (One Uptown) can achieve approximately 85 units per
development regulations
acre. Type III podium is about 100 units per acre. As you can see, densities at 40 units per acre (proposed
and standards addressing
Coyote Canyon) and 45 units per acre (proposed Newport Center) simply do not exist in a realistic
feasibility, development
14
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
development. The reason is the cost of building a costly concrete garage in either a wrap or podium project
incentives among other
typically requires the higher density (in excess of 55 units per acre) to achieve a viable economic development
considerations.
given the high land prices in Newport Beach. Three storygarden apartment product (at 30 units per acre)
which provide surface parking for its residents and is best suited to cities with an abundance of
inexpensive land unlike Newport Beach, which is basically completely built out. Our suggestion is to take
advantage of the high opportunity locations and create higher densities for the Airport Area, Newport Center,
Coyote Canyon, and Banning Ranch.
Coyote Canyon is public land and, in our opinion, should serve one of the most pressing public issues,
The Coyote Canyon area has
affordable housing. Density at 40 du per acre as stated above seems like an opportunity lostfor more
environmental
residential units given it is public land, not immediately surrounded by single family homes. One of the
considerations that limit use
Housing Element Update Advisory Committee members, Paul Fruchbom, suggested using part the landfill for
of the entire site for
parking for the 22 developable acres. Wethink that suggestion is creative and should not be dismissed without
residential uses. The plan
serious analysis of the possibility. Also note, the State Surplus Land Act (SB 1486 — 2019) requires local
reflects the use of a net
agencies disposing or leasing surplus land to provide preferential treatment to affordable housing
area representing only a
developers given the housing crisis in this State.
small portion of the landfill
property not subject to
extreme constraints.
Further, assumptions in the
plan are approximations
subject to change based
upon actual feasibility.
100% Senior Affordable Housing is a great way for cities to meet their state affordable housing requirements as
The Housing Element
well as providing much needed housing for the local community. Creating a "Senior Overlay" zoning allowance
provides for prioritization of
would include specific design and operational requirements such as higher density, reduced size of units,
senior housing through
reduced parking, and senior oriented amenities. Senior Affordable projects are typically less than 100 units
specific policy programs.
providing many opportunities throughout the cityto find an appropriate development location.
What was the methodology used to analyzethe potential ADU units? ADU's appearto be low hanging fruit to
The methodology to utilize
assist insatisfyingthe city's RHNA requirement, and we are sure there are many opportunities that existthat
ADUs is provided in a new
15
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
were not counted. It was mentioned during the April 27th City Council Housing Element study session that the
Appendix D, in support of
City's target for ADU's should be 1,000. We concur. We believe the high opportunity locations should all
the City's desire to enhance
shoulder their share of the lower income affordable units. This results in a fair distribution and is good urban
ADU construction to meet
planning, which lays the foundation for the cityto create land use and zoning policies that maintain local
its RHNA need.
control.
As a user of Newport Golf Course ("NGC"), I stronglyobject to the above proposal for the following reasons: a.
Comment noted.
It is a badly needed recreation facility which would be severelydamaged by the proposed development. b. It
would severely impact the surrounding area and home values.
I am opposed to the rezoning of the NB Golf Course for low income housing Per state requirements. The golf
Comment noted.
course is open to the public, the only one I believe in NB and enjoyed by many NB residents as well as everyone
else.
The golf course also provides a buffer from the airport and is under the flight path Which is another
consideration.
Since the State is requiring the housing project it only makes sense to me for the State to provide unused State
land or empty State buildings that can be refurbished To meet their own requirements, instead of "forcing"
cities to rezone public City Land or private land for that matter.
How is this low income high density housing project going to impact our property values? Who do we see
Comment noted.
about that?
Many of us in this NB neighborhood have worked hard for many years toacquire homes here and enjoy our
quality of life here, again, who do we see about that potential impact to us? Note my opposition to Rezoning
NB Golf Course.
I OPPOSE the housing project of the Newport Beach Golf Course. I OPPOSE any rezoning of this area. Remove
Comment noted.
the project from the agenda. There is too much traffic alreadyon Irvine Ave. Increased traffic is not safe for
pedestrians and cyclists. Environmentally it is not responsible to proceed with this residential proposition.
As I drive in and out of my neighborhood I see people enjoying the golf course. Singles, families and I have
Comment noted.
seen an increase in young people playing golf at the golf course. Better to see young people on the golf course
than on "the streets". I opposethe golf course housing project, I oppose any rezoning of this area. Please take
16
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
the housing item off the table at this location. Bayview Heights/Santa Ana Heights Neighborhood is a Newport
Beach "gem". There is nothing like my neighborhood anywhere else in Newport Beach. Please don't destroy it.
We love all neighborhood as is, and Santa Ana Heights has alreadyspiked with flowing traffic and crowds of
Comment noted.
people. We need to keep the Newport Beach Golf Course, it's part of where we live and we treasure our
community as is.
Meeting with our neighbors we couldn't find anyone who agrees with the rezoning, and we oppose this plan
100%. Please take the housing item off the table at this location.
I am writing to express myconcern for the rezoning proposal of the Newport Beach Golf Course for residential
Comment noted.
housing. As a long time member of this community it is upsetting to see the cities of Newport Beach and Costa
Mesa more focused on profit ratherthan the best interest of the community. This additional housing project
would not only take away one of the few recreational areas we have left in the community but also create a
traffic nightmare in the area. We have already seen pedestrians struckand killed in the cross walks at
Irvine/Mesa as well as Irvine/University. How do you expect we could properly manage the traffic flow with
this additional housing project?
I strongly encourage you to oppose this awful idea to rezone a beautiful open space at the golf course into
Comment noted.
more high density housing that will only further clog and pollute a busy area around the airport. I further would
encourageyou to oppose nitwit ideas and mandates coming from Sacramentothat only serve to destroyour
once beautiful and safe city. Crime and drug addicts currently littering our once safe neighborhoods is a clear
example of failed policies coming from Sacramento. Please do what's right for the constituents of your city and
maintain what we have left.
Residents seem totreasuretheir quality of life in Newport Beach. This includes a quiet airport, unobstructed
Comment noted.
views, and unclogged roadways. While this is not always possible, I believe that the city takes the necessary
steps to ensure all the voices are heard and important input is considered. Understanding the pieces of this
puzzle (building stock, roadways, utilities below grade, community risk, et al) at the ground level may prove to
be beneficial if you chose to consider my thoughts.
While I often hear about the city being "built -out" I do not entirely subscribe to the belief. The district/area
that has the least sophisticated development if the Airport Area of the city. This area is surrounded on three
sides by adjacent jurisdictions and heavily impacted by decisions of the other local governments. Additionally,
17
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
the school district in this section of Newport Beach is the Santa Ana Unified School district. I'm sure this is
unknown tothe many new residents destined to move here who recognize that these cities are significantly
different in many ways. Some have suggested that a change in district boundaries to address the issue, and
while this may feel good to proffer, I don't see that happening anytime soon. It is safe to say that the Airport
Area differs in many respects from the remainder of Newport Beach.
Because of this a different vision statement maybe needed in this specific community to seriously address the
new development that is likely to occur in that area in the future. When I look at the General Plan vision
statement, I fail to see how that can be realistically represented in the Airport Area. This area will seethe Lion's
share of the RHNAlow/moderate units and be more intensively developed. This is something that wiII take
well considered vision and political leadership not before seen in Newport Beach to be done properly given the
forces that will be aligned against new construction.
We area damantlyopposed tothe rezoning of the Newport Beach Golf Course to high density, low-income
Comment noted.
housing.
A high density low-income project negatively impacts every single homeowner in the area, while offering
absolutely zero benefits to us and the community as a whole. We hope the City Council will seriously re-
consider and ultimately deny the rezoning of the golf course.
I strongly oppose building on one of the few open spaces left. I personally feel as do many others the the
Comment noted.
government keeps taking taking taking! Homeless population is out of control, druggies are all over the play
and now this! Dothe right thing before we the people have to get more involved!
As a resident and someone who grew up in the area, the Newport Beach Golf Course is part of the community,
Comment noted.
a place where my parents and I grew up playing, and it would be terrible to see housing built. I stronglyoppose
the rezoning efforts and hope City Council rethinks this change.
I am a resident of Newport Beach at Orchid Hill PI. I'm writing to you to express my opposition with the golf
Comment noted.
course housing project, opposing any rezoning of this area, and asking you to take the housing item off the
table at this location.
PLEASE stopthe discussions about building high density low income housing at the golf course off Irvine Ave/
Comment noted.
Mesa Dr. That idea is pure insanity. The neighborhood simply cannot handle the additional population and
ensuing traffic. Alreadywe are exploding thanks to Costa Mesa'sallowing multiple units being built on what
18
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
we're once single family home lots. In the 23 years living at my condo a few blocks away from proposed
development, the development has resulted in 4x as many dwellings on a SINGLE BLOCK. Multiply that x2 easily
for number of people/cars in a single block and you have insanity. The lack of parking, speeding, deteriorating
roads... not to mention the smell of marijuana that permeates the neighborhood 24/7 has really already
stretched the neighborhood beyond the limit.
I beseechthe Cityor Newport Beach to PLEASE find another site for this development. If you are going to
change zoning, the other side of the 73 is a much more appropriate location for high density housing.
Section 1: Introduction
State law requires and the
While we understand the role of the Housing Element is to "identify ways in which housing needs of current
City's overarching General
and future residents can be met" (page 1-2), those needs should not supersedethe private property rights of
Plan goal is to identify
existing residents and businesses. We seek clarification of this item in the Introduction, considering the fact
opportunities to address
that several pending and prior housing projects have improperly impacted existing property rights, including
existing and future housing
parking and property rights afforded under Covenants, Conditions and Restrictions (CC&Rs).
need in the community.
Section 3: Housing Constraints& Resources
Constraints and resources
It is our understanding that the City of Newport Beach was allocated a total of 4,845 units, per Section 2 -
include evaluation of a
Profile. As identified on page 3-2, some constraints for the City establishing opportunity sites include "the
variety of potential
availability and cost of land for residential development." We believe an additional constraint excluded from
constraints relatedto
the list are CC&Rs. These documents often provide the governing rules for master planned areas, including
governmental policy, site
lands in the Airport Area. Since the City has no authority over CC&Rs those "Nongovernmental Constraints"
conditions and otherfactors
should be included in this section.
that may influence the
Further, the City should respect the private property rights of existing business owners (and residents) and- at a
provisions of housing.
minimum - acknowledge that collective rights in business parks are a constraint in the Housing Element
Update. For example, no individual residential property is being targetedfor conversion from one use to
The sites identification
another, but areas that are considered "common area" business parks where owners bought into a share of the
process considered many of
interest aretargeted for new uses. The Cityshould respect CC&Rsas theystand or require proposed projects to
these considerations
prove that modification of the CC&Rs accurately allows a new/specific use. The City should require this as a
through consultation w/ the
19
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
condition of approval for development entitlements priorto construction. Without this, the Housing Element
HEUAC and consultation
will not properly consider existing property rights and this omission will expose the Cityto unnecessary
with property owners.
entitlement challenges and delays.
While we do not disagreethat housing could be added to certain areas of the Airport Area -adequate resident -
based services and amenities must also be included with those developments. The Business Parks that cover
the majority of the Airport Area were not originally intended to be residential areas and are therefore lacking
in many of the standard amenities and services one would expect to find in a residential neighborhood (grocery
stores, parks, restaurants, banks, child-care facilities, etc.)The Cityshould investthe time now to determine
where these amenities, parks and services should be, or the Citywill be functionally promoting increased
densification without properly planning for how this new housing density can alsobe high -quality, "livable
communities."
This exact conflict is referenced in Policy Action 4E: Airport Area Policy Exceptions for Affordable Housing in
Section 4.
Section 4: Housing Plan
The overlay policy will be
Any proposed overlay (as described on page 4-4) should include direct engagement by business owners and
subsequently updated. Any
tenants in the Airport Area. This is a unique, commercial and business focused area that if not properly planned
rezoning action will provide
for could force businesses to relocate and have unintended consequences including but not limited to revenue
entitlements in addition to
consequences for the City. Further, if businesses leave, the marketabilityof the Airport Area could diminish and
those already provided to
create unfavorable market and quality of life conditions for this important area within the City.
current property owners.
On page 4-3 the Update states: "Housing Goal#8- Effective and responsive housing programs and policies."
Unfortunately, we could find no programs or policies that address the conversion of existing Class A
Other policies in the Policy
commercial office space into residential units. This is an area that should be carefully investigated further by
Program respond to
the City, as while it may be a potentially unique way to create housing and meet needs immediately where
requirements subject to
buildings and utilities have already been developed, it has a direct material impact on existing commercial
state housing law.
property rights and the current infrastructure does not support residential development.
Policy Action 3A: Objective Design Standards (page4-10) and Policy Action 4B: Streamlined Project Review
(page 4-16) should not create a by -right housing process that ignores impacts to adjacent businesses, existing
20
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
CC&Rs, Planned Development Standards, or Integrated Conceptual Development Plans. These limitations
should be noted in the document or be required to be addressed in the planning process.
Appendix B: Sites Analysis
Appendix B has been
After reviewing Figure B-1 Airport Area Environs - Sites Inventory, several Olen buildings were included as
significantly updated to
"Consideration Parcels" for housing. Because the Housing Element Update remains in Draft form at this time,
modify sites and locations.
we are not in a position to condone any such conversion of existing high performing commercial business parks
Property owners not
into residential, which potentially strips owners of valuable and protected property rights. To be clear, Olen
interested in participating
does not currently support conversion of existing commercial business parks to residential uses absent strict
have been removed from
protections of the existing rights of commercial property owners and specifically does not consent to
consideration.
conversion to residential of any of its Newport Beach portfolio.
We appreciate the opportunity comment on the Housing Element Update, but remain concerned that the
private property rights of existing businesses will be adversely impacted by the City's expansion of housing
units unless additional considerations are evaluated by the City. We are also concerned that the City is
inadequately planning for the types of parks, amenities and services that would create good quality of life for
these new neighborhoods, and for the City's business and residents as a whole. This concept of livable
communities should be a central focus of the current planning process in addition to the question of where to
potentially place new housing units. This letter shall not be construed as a full recitation of all of Olen's
positions related to this matter and shall not act as a waiver of any claims.
Please note I oppose this change to a housing project [Golf Course].
Comment noted.
The Housing Element should be harmonized with the LCP and Environmental Elements BEFORE SUBMISSION
A program EIR will be
TO BE CERTIFIED. The fact that Banning Ranch is mentioned as a housing option after the Coastal Commission
prepared in conjunction
denied building and development options is either an attempt to "allocate housing to a back hole that has not
with the Housing Element
potential, but looks good" and an attempt to undermine the Coastal Commission and set into play afight
update.
between twostate agencies. The Cityof Newport Beach should be honest and communicate clearly its
intention. A past survey of residents clearlygave the city a clear dictate to preserve Banning Ranch and
facilitate its acquisition for open space and public access.
Banning Ranch should not be listed as a housing option.
Comment noted.
21
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
This element does not do enough to level the playing field to allow residents to add an additional story to
Comment noted.
facilitate families living together. One of the challenges of the cost of housing is that families are being
separated and longtime residents areforced to sell to access equity, while adding another story could allow
more residents to provide housing for aging parents (on the ground floor) or house adult children with their
families on upper floors. Currently many remodels and new construction in West Newport are able to achieve
3 story construction using expensive variances, lawyers and political influence. The city has created an
exclusive club that contributes to the housing shortage. The fastest wayto more housing is to allow residents
more freedom for
"Mother/daughter" type construction. These would not be condos, but units with the ability of twofamilies
living together. Eventually, this can lead to duplex or triplex rentals, but that process can be paced out by
economics and zoning plans overtime.
Homelessness is a mental health issue— any document produces by the cityshould recognize mental health as
Comment noted.
an issue. The main problem for those homeless wondering the streets of Newport Beach, they have addition
and mental health issues that cannot be resolved without local mental health services. The city would be better
served at add mental health counselors in the police department to go on calls relatedto those wondering the
streets with mental health and addition issues. We could offer free housing, and the homeless issue would
persist, because low cost housing is not the primary cause of the homeless populations wondering our
neighborhoods, camping on public spaces and causing health and safety issues.
Public transportation impacts housing prices. If we invested in mobility of having people easily move between
The Circulation Element of
Newport Beach and Riverside and make 24/hr per day access within 30 minutes then housing prices would not
the General Plan is being
be an issue. What drives the unfair housing issue is the time it takes to commute between work and home and
updated concurrently with
between home and public resources like the beach. Housing must be reconciled with a county and state
the Housing Element,
transportation plan.
addressing transportation -
related issues.
Outreach has been lacking becausethe outreach has been unfairly biased to The Housing Element and the
A summaryof all outreach
General Plan is more than the Housing Element— it must be a harmonized plan and the city needs to conduct
efforts is included in
more outreachfor the other elements of the General Plan Update.
Appendix C of the Housing
Element.
22
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
The parcel identified as ID 47 in the Housing Element Study is correct (APN 445-131-31, 2.58 acres). Two
Appendix B has been
additional parcels owned by KCN A Management, LLC should be included as well. The two additional parcels
updated to consider a
are APN 445-131-30 totaling 23.74 acres and APN 445-122-19 totaling 16.67 acres. Both of these additional
variety of site
parcels have a combined usable development area of approximately 11 acres. All three parcels would provide a
considerations related to
development area of approximately 13.6 acres providing the opportunity for 700 housing units based on a
the distribution of
standard 50:1 ratio. In addition, the draft study indicates that all parcels in the specified area of our properties
affordability throughout the
are to be rezoned as Low and Very Low housing categories. While we agree that some affordable housing
City.
should be provided in this area, we do not believe that the area should be exclusively Low and Very Low
housing categories. Agood balance of both market rate and affordable housing would be best suited for the
Airport Area.
The Newport Beach Golf Course is a part of our community, a place where my family and friends get together
Comment noted.
for events, and it would be absolutely terrible for you to build housing on a cornerstone area of my community.
I STRONGLY oppose the rezoning efforts and hope the City council rethinks the impact this will have on its
citizens.
This is not acceptable to build homes that will impact our neighborhood and community. The problems that
Comment noted.
comes with crowding to many people in an area, the quality of people your wanting to attract will cause the
same problems with parking and theft that is currently across Irvine Ave on Mesa Dr. the homes on riverside
drive and Redlands have had issue after issue with people of poor character, theft, disorderly conduct and
there street is covered in cars that do not live in the neighborhood.
We love our hidden community, it is safe, family oriented and a hidden gem. We do not want this to change.
We truly hope you can understand.
I oppose the golf course housing project, oppose any rezoning of this area, and would askthat you take the
Comment noted.
housing item off the table at this location.
I respectfully request that you NOT approve any rezoning of the Newport Beach Golf Course area as outlined in
Comment noted.
the Draft of the General Plan Housing Element Update (PA2017-141), presented during the Study Session on
4/27/2021.
As you know, the Golf Course area is currently zoned SP-7, "Open Space and Recreational District". I and many
of my Neighbors in Bayview/Santa Ana Heights want to preserve the open space and the Golf Course area for
23
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
recreation and use as previously & currently designated. I believe many other residents in Newport Beach and
the surrounding area enjoy using the Golf Course and do not want to see it or any portion thereof changed out
for a Housing project.
This project would have a Negative impact on our Bayview/ Santa Ana Heights Neighborhood. In regard to
traffic in the area, Irvine Ave. is already incredibly congested at various hours of the day and adding more
volume will only make it worse and we will see an increase in accidents.
Please vote no on rezoning the Newport Beach Golf Course to a high density, low-income housing zone.
Comment noted.
As long as the golf course chooses to remain open to the public for golf, they should be permittedto keep their
18 holes. I am not a golfer, but I enjoy seeing people enjoy their sport. While I recognizethat low cost housing
is in great need, this location is hardly a great location for low cost housing. It places it in the middle of a
community, with few closejob opportunities/career paths that don't require a commute. Things like local
grocery, diverse public transportation, and local medical should all be considerations for a high density low cost
housing complex. I don't see that kind of infrastructure in this area. Meanwhile you will be removing one of the
few public golf courses Newport Beach can lay claim too.
This is a notice of strong objection to the proposed Newport Housing Element zoning changes for the Newport
Comment noted.
Golf Club LLC ("Unique ID Parcels 23 to 26). The effects of this proposal will negatively impact the areas
immediately adjacent to the proposed development densification by overloading the Mesa Drive/ Birch and
Irvine Avenue roadways. Morning and evening peak wait times at intersections currently approach 5 minutes
and queue from Irvine Avenue to Orchard Drive. A number of years agothe circulation element was modified
along with the County's Master Plan of Arterial Highways (MPAH)to eliminate the University Drive Extension to
Jamboree Road and to remove the Mesa Drive connection on assurances that development and densities
would not be increased. This proposal would violate those assurances and previous planning efforts.
Additionally, during the creation of the specific area plan for the Santa Ana Heights neighborhood and the
LAFCO discussions for its annexation to the City of Newport Beach, the City agreed to retain and preserve the
residential rural equestrian zoning (and character) of the neighboring areas in exchange for some limited
commercial rezoning along Birch and Irvine Avenues. The proposal under consideration conflicts with those
previous planning efforts and commitments from the City, the County (and the previous Redevelopment
Agency).
24
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
I am writing to oppose the rezoning of the Newport Beach golf course into high density housing. We don't need
Comment noted.
any more traffic, noise, or people flooding the back Bay Area by Mesa drive. What we could use is some
walkable retail shopping or commercial not dedicated to plastic surgery. Given this is also in the wake of Buck
Johns paying off politicians to buy cheap land in Newport, I would hope extra diligence is being put into how
land is being sold/zoned/used with an emphasis on benefitting existing residents.
Accessory Dwelling Units
A new Appendix D has been
We are concerned about the City's calculation of ADU production and the lack of support for the numbers that
provided supporting the
have been included in the Drafts thus far. With the direction of the City Council to increase the ADU numbers
assumptions for increasing
even further, to potentially 1000 units, we have even greater concerns that such production is unrealistic.
ADU potential. Additionally,
However, we are encouraged by the fact that City Staff intends to survey the community and studythis further.
programs supporting ADU
We hope that the City's ultimate determination regarding ADU production will be supported by reliable
construction and
evidence and specific incentives to ensure a realistic probability that the Citywill meet its ADU production.
monitoring of progress have
Additionally, the City's ADU program should include some form of regular data collection, evaluation, and site
been included.
inventory update. For example, the City should evaluate annually the number of ADUs produced and the rental
rates at which they are available to the general population, if at all. Based on a review of data, the Cityshould
reevaluate its ADU predictions and in the event of a shortfall in production, revise its ADU program and
incentives to boost production or ultimately identify additional sites toaccommodate the shortfall. The City
should also consider incentives that encourage residents toagree to affordability covenants for their ADUs.
With the City's aggressive approachtoADU production, the specific details of its ADU program as well as its
robust and regular evaluation of ADU production are essential.
No Net Loss Requirements
The assumption for a RHNA
Government Code section65863 ensures that jurisdictions accommodate their RHNAthroughout the planning
buffer has been increased
period. To accomplish this, HCD recommends that a jurisdiction create a buffer in the housing element
per Council directive.
inventory of at least 15 to 30 percent more capacitythan required. The City Council's direction to reduce the
buffer of sites in its inventory to 5% is alarming, especially considering the potential need for a citywide vote to
rezone newly identified sites within 180 days of approval of any development that results in a shortfall in the
City's site inventory. This is also problematic considering that nearly 50%of the City's RHNA is allocated to
housing for households with very low and low incomes. Unless the City is donating land or providing significant
25
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
funding toward affordable housing, it is unlikely that the market will support the development of housing
complexes where 50% or more of the units are affordable to very -low- and low-income families. Further, the
Cityis planning on the percentages of units affordable to low- and very -low-income households to be 45% in
the airport area, 65% in West Newport Mesa, 30%in both Dover-Westcliffand Newport Center, 35% in Coyote
Canyon, and 20 % in Banning Ranch. However, the Cityis planning on adopting an inclusionary zoning
ordinance requiring only 15% of the units be affordable to very -low-, low-, and moderate -income. With the
development of just a few of the housing element sites, the City may quickly run out of inventory to cover its
RHNAwith only a 5%buffer. We encourage the Cityto reconsider its 5% buffer and adopt a buffer in line with
staffs recommendation in Table B-1 on page SS3-4 of the Staff Report for the April 27 Study Session.
Site Inventory
Banning Ranch and Coyote
Banning Ranch: We are concerned with the City's reliance on Banning Ranch as a suitable sitefor the
Canyon are two of the six
development of housing, including affordable housing, during the 6th Cycle. As the City's Draft recognizes,
opportunity areas in
Banning Ranch was identified in prior planning periods and the City previously approved a development at that
addition to existing
location, however, the development was denied by the California Coastal Commission. I n its findings, the
entitlements and AD
California Coastal Commission indicated that approximately 19.7 acres were suitable for development, of
assumptions. Constraints
which only 11 of those acres could be developed for residential housing structures. Considering this history,
and other factors have been
without additional programs or supporting information determining the development potential of 46 acres at
considered and will be
this site, it is unrealisticfor the Cityto consider more than the 11 acres developable within the planning period.
considered as part of the
Coyote Canyon: Considering the landfill in the vicinity of this location and the correspondence the City received
implementation of the
from State and Federal Fish & Wildlife agencies opposing development at the site, we are concerned about the
rezone programs described
viability of the site for housing development during the planning period without additional programs or
in the Policy Program.
supporting information to show the reliability of the site's development potential during the planning period.
We also agree with comments made during the Study Session that locating 100% affordable developments at
the site raises environmentaIjustice concerns.
Via Lido Plaza: We support the City's decision to include all sites in its inventory where property owners have
affirmatively expressed interest in redeveloping their property for residential use and in being included in the
site inventory, especially if a property owner has indicated a willingness to include affordable units in any
26
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
development. Including such sites will help the City meet the increased require me ntthatjurisdictions
demonstrate realistic development potential for nonvaca nt sites.
Affirmatively Furthering Fair Housing
AB 686 considerations have
With HCD's release of its Affirmatively Furthering Fair Housing: Guidance for All Public Entities and for Housing
been included in Sections 3
Elements (April 2021 Update), we encourage the City to reviewthe HCD's Guidance and revise its analysis and
and 4, as well as Appendix B
programs as they relate to the duty to affirmatively further fair housing. While we address a few concerns
of the Housing Element
specifically, the Guidance is an exceptional resource that the City should thoroughly review and follow when
revising its Draft Housing Element. We also encouragethe City to take advantage of HCD's AFFH Data and
Mapping Resources to incorporate additional data into its analysis.
Outreach and Key Stakeholders
Outreach efforts through
We encourage the City to ensure that its outreach includes a diverse group of organizations and individuals,
the process have been
particularlywith its assessment of fair housing and in its selection of sites and development of programs that
transparent and seek to
affirmatively further fair housing. Some key stakeholders the City should reach out to include: community-
engage a diverse audience.
based and other organizations that represent protected class members, public housing authorities, housing and
A summaryof efforts is
community development providers, lower income community members and households that include persons
provided in Appendix C of
in protected classes, fair housing agencies, independent living centers, regional centers, homeless services
the Housing Element.
agencies, churches and community service organizations that serve ethnic and linguistic minorities, etc.6 While
we applaud the sometimes thankless and often tiresome work that the Housing Element Update Advisory
Committee has committed to the Draft Housing Element over the last eight months, we are concerned that
there has been a lack of diverse stakeholders included in the City's outreach efforts. Among the stakeholders
listed above, the Cityshould make particular efforts to engage renters, members of protected classes,
individuals that rely on affordable housing, and local workers, who may not be Newport Beach residents, but
would choose to live closerto their employment if affordable housing were available.
Additional Analysis
AB 686 requirements have
The City's "analysis must address patterns at a regional and local level and trends in
been included in Section 4
patterns over time." The City is also "expected to use local data and knowledge to analyze local fair housing
of the Housing Element.
issues, including information obtained through community participation or consultation, such as narrative
descriptions of people's lived experiences." Other relevant factors the Cityshould analyze include barriers in
27
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
zoning and land use, such as "[p]redominance of single family uses and larger lot sizes in racially concentrated
areas of affluence" or "[v]oter initiatives that restrict multifamily developments, rezoning to higher densities,
height limits or similar measures that limit housing choices," etc. The Drafts hould also include an analysis of
racially concentrated areas of affluence when analyzing patterns and trends of segregation and integration.
Site Inventoryand AFFH
AB 686 requirements have
While we applaud the City's efforts to redistribute affordable housing throughout its focus areas and reduce
been included and
the concentration of affordable housing in the airport area, we are concerned that limiting affordable housing
considered in Secitons 3 and
to the focus areas still creates or exacerbates patterns of segregation. Even though the City as a whole is
4, as well asAppendix B of
predominately White and affluent, especially when compared with the region and state, simplyviewing Figures
the Housing Element.
3-7, 3-8, and 3-9 still demonstrates that the City is focusing its affordable housing in areas of the Citywith
higher percentages of Hispanic/Latinx, Non -White, and Low/Moderate Income populations than may exist
elsewhere in the City. When evaluating its Site Inventory, the City needs to "discuss how the sites are identified
in a manner that better integrates the community," explain how the identified sites impact "existing patterns
of segregation and number of units relative to the magnitude of the RH NA by income group," and evaluate
"whetherthe RHNAby income group is concentrated in areas of the community."
Goals, Policies, and Actions
AB 686 requirements have
As part of the AFFH component of the Draft Housing Element, the City needs to identify and prioritize
been included in Sections 3
contributing factors to fair housing issues then identify goals, policies and a schedule of actions with specific
and 4 of the Housing
timelines, discrete steps, and measurable outcomes that will have a beneficial impact during the planning
Element.
period. "Goals and policies must be created with the intention to have a significant impact, well beyond a
continuation of past actions, and to provide direction and guidance for meaningful action."
The City's Policy Action 4A fails to meet the requirements of the necessary program to affirmatively further fair
housing. Essentially, the City's program is to collaborate with other organizations and to review fair housing
complaints simply to referthem to the appropriate government agency and to collaborate with other
stakeholders to address potential constraints to fair housing, which may include analysis of barriers, review of
historic policies, and "specific actions" that contribute to an inclusive community. First, the analysis of barriers
to housing and a review of historic policies and restrictions that prevented protected classes from locating in
Newport Beach should already have been done and included in the Housing Element as a part of the City's
28
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
required analysis of Fair Housing. Essentially, the City has set a goal to do the analysis in the future that is
should have already incorporated into its Draft Housing Element. And while the City states that it may take
"specific actions," to foster inclusivity, there are no details about these "specific actions." "Programs in the
element must have specific commitments to deliverables, measurable metrics or objectives, definitive
deadlines, dates, or benchmarks for implementation. Deliverables should occur early in the planning period to
ensure actual housing outcomes. For example, programs to 'explore' or 'consider' on an 'ongoing' basis are
inadequate to demonstrate a beneficial impact in the planning period." The City's AFFH Policy Action is exactly
what HCD has deemed to be inadequate. We encouragethe Cityto rework its fair housing analysis, identify
barriers to fair housing, and develop specific programs and policy actions in line with HCD's guidanceto
affirmatively further fair housing and actuallyachieve beneficial impacts during the planning period.
Site Inventory
Appendix B has been
Based on the April 27, 2021 City Council Study Session, we understand that the City is taking additional time to
revised to include a variety
review and revise its Draft, including the Site Inventory to increasethe reliance on ADU production, which we
of these considerations.
interpret to mean a decrease in the list of sites identified or in the density of those sites. As we have requested
before, when the Cityupdates its Site Inventory, we would appreciate receiving a copy for review. Some
concerns that we have previously identified and encourage City Staff to consider when revising the Site
Inventory include:
• Ensurethat the Site Inventory correctly identifies whether a site was previously identified in the 5th
Cycle;
• Specifically identify the sites to be rezoned in any rezoning policy action;
• Ensurethat the appropriate densities, orgreater, and appropriate percentages of affordability, or
greater, are designated to sites in accordance with housing element laws;
• Provide the required analysis for sites less than 0.5 acres or greaterthan 10 acres todemonstrate that
sites of that size were successfully developed during the prior planning period;
• Develop a policy action to identify City -owned nonvacant sites as surplus land, in accordance with the
Surplus Land Act, during the planning period; and
• Identify the current uses of nonvacant sites and how such uses do not constitute an impediment to
additional residential development during the planning period.
29
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
We continue to be encouraged by the City's diligent efforts to comply with state housing element laws and
Comment noted.
meaningfully contemplate the housing needs of its community and how to meet the needs. While we are
concerned with some of the recent direction City Staff has received related to the Draft Housing Element, as
described above, we await the City's thorough review and investigation of those matters to determine the
realistic development potential during the planning period ofADUs and identified sites. We are also excited by
the new HCD Guidance and Data and Mapping Resources to assist the Cityin complying with its duty to
affirmatively further fair housing. We look forward to continuing to work withthe City through this process and
if we can provide any additional assistance, please do not hesitate to contact us.
As a resident who has lived here for the past decade, this golf course is part of the community, and it would be
terrible to lose that! l l I strongly urge you to reconsider zoning and truly consider the affect it will have on our
beloved community.
I am adamantly opposed to any rezoning as residential land. The golf course is a beautiful natural quiet area
Comment noted.
and adding residential buildings will destroyany sense of peace and will add hundreds of automobiles,
pollution and noise to this quiet east side location. Property values will plummet, traffic will increase 100-fold
and noise will substantially increase. The Golf course is the only reason I purchased in this area. Please do not
continue this horrible project of rezoning the golf course.
I highly oppose this decision [to build high density housing on a portion of the golf course]. We believe that this
Comment noted.
is a very poor decision and will greatlyaffect the community by removing something that is constantly used by
our residents as well as visitors from around the world. It will also cause an increase in trafficthat is alreadyan
issue in this area. Please reconsiderthis decision as it will be a detrimental move to our city.
I adamantlyoppose the rezoning of the golf course for low income housing. That is a terrible place to put high
Comment noted.
density housing directly under the flight path and we do not need moretraffic. The golf course should not get
smaller because thousands of golfers enjoy both the front and back 9 every week. That is really the only
affordable public golf course in Newport Beach, andyou want to downsize it?
Gentlemen, this message is to express myopposition to any plan to convert the Newport Beach Tennis Club
Comment noted.
property into any kind of "low, moderate, or above -moderate income" housing units. Doing sowould become
an environmental disastertothe surrounding community in my opinion. Bear in mind there aretwo schools
within walking distance of this site, the closest being a grammar school. The added traffic resulting from
additional housing would greatly increase the likelihood of tragic pedestrian accidents involving children.
30
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
I have lived in my home in Newport Beach for overt hirty years and have seen careful planning and good
Comment noted.
progress made in the city. In my opinion, converting the the Newport Beach Tennis Club property into
additional housing is a very bad idea and detrimental to the surrounding community. I believe there are more
appropriate sites on the list and therefore I would like to see the tennis club property removed from the list
permanently.
Thank you very much for serving our local community of which I have been a resident of for nearly 60 years.
Comment noted.
Regarding APN: 440-281-02
1 highly objection to the aforementioned Parcel and its re -zoning to provide over 250 high density residences to
the Eastbluff area —Highertraffic plus a high carbon footprint vs recreation and health?
Additionally to hide this behind the veil of 125 low income housing is intolerable.
Please don't tell me that the citywill receive and increase in property tax — With good management from your
team the city has more than enough money. But more importantly to take away recreation which is so badly
needed in just wrong! Ifyou haven't notice the second biggest contributing factor to deaths from COVI D is
obesity or high BMI. This property serves many times more people each year than the proposed 125 low
income units will ever provide. Besides the membership the property serves several tennis tournaments and
provides hundreds of children swimming lessons and races each year!
If you would like to discuss further do not hesitate to contact me —and I do look forward to seeing each of in
person to reinforce my concerns about this project!
Thank you again for your service and with your good leadership we can make this city even better. I am hereto
help if needed!
As a 30-year resident of Newport Beach I urge you to reject the efforts being proposed to replace the NB
Comment noted.
Tennis Club with housing units.
NB Tennis Club has been a fixture in our community and serves as a gathering spot for residents toexercise and
enjoy each other's camaraderie.
The population density in Newport is already too great and the traffic and crowds is excessive.
Please protect NB Tennis Club!
31
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
As you can see from below, we've been fighting the re -districting of Newport Beach Tennis Club for years,
Comment noted.
always assured that a general plan amendment and a long process with multiple hurdles would be required to
change NBTCto a residential site. It looks like more and more of those hurdles arefalling and the threat is real.
I STRONGLY oppose both the destruction of the tennis club and the building of condos. As to the former it's a
longstanding recreational landmark and a very active, well -used club. As to the latter if we wanted to live
somewhere dominated by condos and a bunch of cookie cutter housing developments with a horrible traffic
flow we would move to Irvine. PLEASE stop the "development" that is ruining the character and individuality of
Newport Beach. I understandthere is a mandate from the stateto identify areas for affordable housing but
taking away one of the longest standing and supported recreational areas in a city that is exploding with
condos and traffic cannot be the right answer.
I wanted to takethis time to offer my opinion on the upcoming decisions facing you regarding site selections
Comment noted.
for the 2021-2029 Housing Element addressing future low/very low, moderate and above moderate income
housing specifically involving APN:440-281-02... the Newport Beach Tennis Club.
I am completely against including this property in the designated Cityof Newport Beach 2021-2029 Housing
Element for the following reasons:
1. Traffic.... Not onlywill ingress and egress of the proposed development not likely be easilysolved but
Eastbluff Drive will be severely overtaxed causing major traffic issues along with increased traffic accidents also
resulting in increased danger to bicyclists who use this route.
2. Infrastructure....ln addition to impacting the roadways, the local shopping centerwill not be able to handle
either the increased volume nor supply adequate parking. The Ralph's grocerystore is one of the smaller
footprints in their chain and likely could in no way handle the increased volume from the additional dwelling
units. This area truly is built out relative to the amenities it was designed for.
3. Recreation.....Adding more dwelling units in this neighborhood removes more acres of recreation this city
cannot afford. We can only look at our country's increased obesity rate to understand reducing land devoted to
recreation only contributes to this national emergency.... please don't add to this problem.
4. Tennis Community..... The only other tennis club in the city (Palisades Tennis Club) would be completely
unable to absorb the 500+ members Newport Beach Tennis club has which would lead to citizens leaving the
sport or flooding city courts well beyond their capacity.
I urge you to NOT include APN: 440-281-02 in the City of Newport Beach 2021-2029 Housing Element and
select a more suitable site.
32
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
Asa homeowner with a property inclose proximity to Planning Site #145 -currently the Newport Beach Tennis
Comment noted.
Club - I would like to express my strong opinion that apartment development on this site is ill-considered.
There has been copious apartment development in Newport Beach and surrounding cities over the past 5
years. Plenty of inventory has been added that strains an already overburdened traffic, amenity and
educational infrastructure. Carpeting the neighborhoods of NB, Costa Mesa and Irvine with apartment
dwellings will ultimately seriously undermine the quality of life that was the very reason most of us moved here
in the first place. We do not want to create another West Los Angeles.
Please remove Site #145 for the city's "Site Analysis List".
It has come to my attentionthat the Newport Beach Tennis Club (APN: 440-281-02) site being considered for
Comment noted.
re -zoning to accommodate future low income housing.
Please remove this site from your Site Analysis List- the location is in the heart of Newport Beach and would
significantly alter home values and the look/feel of our city.
It has come to my attention that the Newport Beach Tennis Club (APN: 440-281-02) site being consideredfor
Comment noted.
re -zoning to accommodate future low income housing.
Please remove this site from your Site Analysis List - the location is in the heart of Newport Beach and would
significantly alter home values and the look/feel of our city.
Please keep our beloved tennis club zoned recreational ! ! it is a quality of LIFE issue for multi generational
Comment noted.
families H look elsewhere for more housing sites H
Comment noted.
I have lived at for 46 years since 1975! Our house is DI RECTLYacross the street from the tennis
club. My sons went to Lincoln and Corona del Mar schools and have grown up here. The possibility of having a
379 unit development across the street and in this area is abhorrent and difficult to envision.
I have been active in various neighborhood and city affairs and have seen many changes in this area. I cannot
believe the city is even considering the development of the building 379 units in this area!
Along with thousands of others, I earnestly implore the planning committee to remove this property from the
2021-2019 Housing Element now, to prevent any housing accommodations to be considered now or in the
future.
If this property is to be razed there are other developments that could be considered. Something that would
benefit the people who live in Newport Beach and this close-knit area.
33
City of Newport Beach
2021-2029 HOUSING ELEMENT
Public Review Draft Comments
Response to Comments
The thought of at least 600 plus more cars on East Bluff Drive, Jamboree, etc. along with other factors, is
outside the realm of credibility and not worthy of any of you able to make this critically important decision.
I, along with many others will follow this issue closely and do whatever we canto prevent it.
34
City of Newport Beach
2021-2029 HOUSING ELEMENT
Background and Purpose
ADU Purpose
Accessory Dwelling Units (ADUs) and Junior Accessory Dwelling Units (JADUs) are additional independent
living facilities, for one or more persons, which are located on the same parcel as a single -unit or multi-
unit residential dwelling. The concept of ADUs has existed for decades but has recently come to the
forefront of the California housing discussion due to legislation passed starting in 2018. This legislation,
discussed in more detail in the following section, makes it easier to develop ADUs by increasing the
development zones where ADUs can be built, broadening the definition of an ADU, and removing previous
restrictions such as requiring replacement parking.
In areas such as Newport Beach where land values are high and there is a large amount of single -unit
detached housing, ADUs present a potentially more naturally affordable housing option for renters. ADUs
are often smaller in size than typical apartments or rental housing, ranging from 300 to 600 square feet
in size. They are also attractive to property owners who can gain rental income.
The City of Newport Beach (City) believes that ADUs present a viable option as part of the overall strategy
to develop housing at all income levels during the 2021-2029 61" Cycle Housing Element planning period.
Appendix D describes:
• Recent ADU legislation and regional actions;
• Local factors that may increase ADU development over the next eight years; and
• Actions Newport Beach will take through housing programs to incentivizing ADU development.
Background on Legislation and Statutory Requirements
Currently in Newport Beach, ADUs and JADUs are primarily regulated through Section 20.48.200
(Accessory Dwelling Units) of Title 20 (Planning and Zoning) of the Newport Beach Municipal Code
(NBMC). Within the Coastal Zone, ADUs and JADUs are primarily regulated through Section 21.48.200
(Accessory Dwelling Units) of Title 21 (Local Coastal Program Implementation Plan) of the NBMC.
ADU legislation is addressed in Government Code Section 65852.150; it establishes that ADUs are valuable
and viable form of housing which can support the varying needs of California residents. In recent years,
ADU legislation has been revised to increase opportunity and improved effectiveness in creating more
housing in California. Recent changes in law have increased the feasibility and streamlined the ADU
process to encourage development; below is a summary of recent legislation that has amended ADU law.
SB 106.9
SB 1069 made legislative changes to address barriers to the development of ADUs and expanded capacity
for ADU development. The bill reduces parking requirements per unit, restricts local agencies' ability to
require ADU applicants to install new or separate utility connects or impose related fees, and requires
local governments to ministerially approve applications for one ADU within single -unit residential so long
as it meets specific requirements.
Appendix D: Accessory Dwelling Units (September 2022 Final Housing Element) D-1
City of Newport Beach
2021-2029 HOUSING ELEMENT
Z
AB 2299
AB 2299 requires local governments to ministerially approve ADUs if the proposed unit meets all parking
requirements, maximum allowable size of an attached unit and specific setback requirements.
Additionally, the bill states that any existing ADU ordinances do not meet the bill's requirements is null
and void and that the jurisdiction must approve accessory dwelling units based on Government Code
Section 65852.2 until the jurisdiction adopts a compliant ordinance.
' R 9Af)R
AB 2406 creates more flexibility by authorizing local governments to permit junior accessory dwelling
units (JADU) through an ordinance. The bill defines JADUs to be a unit that cannot exceed 500 square feet
and must be completely contained within the space of an existing residential structure. In addition, the
bill requires specified components for a local JADU ordinance.
AB 3182
AB 1382 further addresses barriers to the development and use of ADUs and JADUs in local jurisdictions.
The legislation streamlines approvals of ADU and JADUs using ministerial approval processes, including a
requirement that complete applications for a compliant ADU/JADU which have not been acted upon
within 60 days are deemed approved.
A6 dd, A5 681, SB 13
AB 68, 881 and SB 13 prohibits a number development standards and design regulations a local
government may impose in ADU/JADUs, decreased the allowable time for an ADU review and permitting
process, reduces the allowable associated fees for ADUs and provided additional regulatory clarifications
and guidelines pursuant to Government Code Sections 65852.2, 65852.22.
Q Ic
AB 587 permits an ADU to be sold or conveyed as a deed restricted affordable unit separately from the
primary dwelling residence. Additional, regulations are outlined in Government Code Section 65852.26,
including the provision that the primary and accessory unit must be built by a qualified nonprofit.
AB 670
AB 670 states that all covenants or provisions that unreasonably restrict or prohibit the development of
ADU/JADUs on a lot zoned for single -unit residential use is void and unenforceable.
AB 671
AB 671 requires jurisdictions to include a plan and programs in the Housing Element which incentivizes
and promotes the development of ADUs for very low, low- and moderate -income households.
HCD/SCAG Policies and Programs
In August 2020, the State Department of Housing and Community Development (HCD) and the Southern
California Association of Governments (SCAG) completed an analysis of accessory dwelling unit
affordability to establish approved assumptions for use in the sites analysis for the 2021-2029 Housing
Element Cycle. The analysis surveyed rents for ADUs through different online real estate platforms
between April and June 2020 and focused on specific geographic regions to determine differences in
Appendix D: Accessory Dwelling Units (September 2022 Final Housing Element) D-2
City of Newport Beach
2021-2029 HOUSING ELEMENT
x.Si
�:..
affordability. The final affordability assumptions resulting from SCAG and HCD's analysis for jurisdictions
within Orange County are as follows:'
• Extremely Low — 15.0%
• Very Low — 10.0%
• Low — 43.0
• Moderate — 30.0%
• Above Moderate — 2.0%
The City of Newport Beach applied the above approved affordability breakdown to the anticipated ADU
development within the 6t' Cycle planning period.
Opportunities for ADUs in Newport Beach
Influences Supporting Affordable Housing in Newport Beach
Opportunities to develop affordable housing on vacant land in the City are extremely limited with only
three parcels qualifying based on the SCAG Housing Element Parcel Tool (HELPR) (see Figure 1). The City,
however, has substantial opportunity to develop affordable housing through ADUs based on the following
key factors:
• High land values in the City incentivize ADU development - Because of the high land values in
Newport Beach and the propensity to have viable, financially performing properties, infill
opportunities on existing residential sites via ADU development represents the greatest
opportunity for affordable housing construction and to integrate such development within
established neighborhoods. According to SCAG's HELPR, there are numerous parcels that could
qualify for by -right detached ADUs, with little to no restrictions. In addition, every single -unit in
the City has the potential to convert existing space, including garage area, into an ADU or JADU
by -right, resulting in approximately 19,000 eligible properties (see Figure D-2). Therefore, the City
contends this provides the most significant opportunity to generate affordable housing in the
community.
• Site availability for ADUs is significant - Almost 8,000 existing parcels have the physical space to
accommodate detached ADUs and provide for ample opportunity to add to the housing stock.
Whereas the City may lose economic potential, jobs and tax base with infill redevelopment of
existing commercial uses, encouraging ADU development on existing residential properties does
not deteriorate economic, job and tax base considerations. Rather, it will likely enhance
availability of diverse housing opportunities, promote economic stability and further the City's tax
base.
• Positive Historical Trends in ADU Development - The City's history of ADU/JADU development
within multifamily developments demonstrates opportunity to develop attached ADUs as an
affordable component of larger housing projects. These positive trends are directly correlated
with the City's current efforts to provide supportive policies, outreach and information
dissemination to its residents. The City has experienced year over year increase in ADU activity
1 SCAG Regional Accessory Dwelling Unit Affordability Analysis, 2020
Appendix D: Accessory Dwelling Units (September 2022 Final Housing Element) D-3
City of Newport Beach
2021-2029 HOUSING ELEMENT
in the City and will continue to see these trends increase and exponentially expand throughout
the 2021-2029 planning period through intensified public outreach and development incentives.
• Demonstrated Commitment to ADU Development through Policies/Programs —The City Council
has recently adopted policies that support ADU development and has developed an ADU
Ordinance that strongly encourages ADU development. In addition, that City will adopt additional
ADU policies the further support ADU development citywide. Providing strong support through
policies, community outreach and monitoring of ADU construction.
• Council Policy K-4 (Reducing the Barriers to the Creation of Housing) — On March 9, 2021, the
City Council adopted Council Policy K-4, which includes a stated goal of increasing the production
of ADUs and JADUs. The policy recognizes that further encouraging development of ADUs beyond
State law minimums is an important strategy to accommodate future growth. To further
encourage and incentive the development of ADUs, the policy set forth the following directives:
1. Interpret ambiguities in code provisions regulating ADUs in a manner that accommodates and
maximizes production.
2. Direct staff and the Planning Commission to review and recommend code changes that
reduce regulatory barriers, streamline the approval process, and expand potential capacity of
ADUs beyond minimum State law requirements
3. Publicize incentives for construction of ADUs with a systematic approach utilizing all forms of
media and outreach.
4. Prepare and maintain a user-friendly website committed to information related to codes,
processes, and incentives pertaining to the development of ADUs and JADUs in the City.
5. Develop and administer a program that includes waiving all permit and City fees for property
owners of unpermitted units when they agree to bring units into compliance with current
building and fire codes to ensure the safety of occupants and structures.
6. Develop permit -ready standard plans to permit new ADU construction to minimize design
costs, expedite permit processing, and provide development certainty for property owners.
• Temporary 2-Year Fee Waiver Program for ADU and JADU Development — On April 27, 2021,
the City Council adopted Resolution No. 2021-37 waiving City building plan check, building
construction permit, and other related City fees required for plan check, permits, inspections, re -
inspections and other related activities, for the design and construction of ADUs and JADUs on
existing residential developments and the legalization of exiting unpermitted ADUs and JADUs.
Appendix D: Accessory Dwelling Units (September 2022 Final Housing Element) D-4
City of Newport Beach - _
._
2021-2029 HOUSING ELEMENT
Figure D-1: Vacant Land Availability
ect aAu _
City or County(Urli—ir aiatedi s cF —
Newport Beach
Show Population and Housing Stats
Standard Filters
r Vacant parcels of appropriate size ai O
0 4 Lowervaluedcommercial/retail Q <
P 7 Public -owned land (D
r 4 Inside priority growth area, outside constraint area Q
Number of Selected Parcels
3
Download Parcels (CSV) Download Parcels (SHP)
3 km
Download Land Use Layer File (LYRX; m.
ry ne
Costa Mesa
s
air\ r Ha—
�ZN M
art.
San Joaquin
Hills
of Irvi ,
Cove
Beach, Cooney of
Appendix D: Accessory Dwelling Units (September 2022 Final Housing Element) D-5
S
City of Newport Beach
HOUSING ELEMENT
Figure D-2: ADU Eligible Lots
Single -Family
Zoning Areas
Planned Communities 7,480
Go nve nti a nal Zoning 11,350
16, Overall Total 18,830
Vf i
Single -Family Residenlial Zoned Lois
Eligible for Accessory Dwelling Unit Conversion
Planned Commu5ims - Singe -Family Equivalent Lots
C—ninnal Zoning - R-A; R-1; R-18WO; R-1-1200; R-1-100DO; SP-7(Singl.-F—ily Lots)
o
Figure D-3: ADU Opportunity Areas Map
COSTA U MINC
MESA
14
t, CSC 22
UNINC.
25
53
❑ Assumed ADU Units
N
A0 0.5 imi
Appendix D: Accessory Dwelling Units (September 2022 Final Housing Element)
F
M.
City of Newport Beach
2021-2029 HOUSING ELEMENT
i ocai ADU Trends and 2021 2029 Projections
There are several indicators of strong growth in ADU development since 2018 within Newport Beach.
Table D-1 shows the City's number of ADUs that were issued building permits (permitted) since 2018.
Initial interest in development of ADUs in the City, like other cities in the State, was slow due lack of public
awareness of the new opportunities and complexity of the laws. Additionally, the City's initial ADU
regulations adopted in 2018 were intended to comply with State law be as restrictive as possible.
However, in 2019, the City amended its ADU regulations to comply with updates in State law but also
included additional design flexibility for ADUs and adopted incentives. Due in large part to increased
education of property owners, City Council support of ADU development, and additional local policies
promoting the development of ADUs, the City of Newport Beach is experiencing exponential growth in
ADU interest and development. The largest increase came in 2021 when the City issued building permits
for 40 ADUs with an additional 29 ADU permits pending. This represents a 1325% increase in total permits
issued from 2018 through 2021.
Table D-1: Newport Beach ADU Development (2018-2021)
ADU STATUS
2018
2019
2020
20211
Total
Permitted
4
5
8
48
57
140 ADUs permits have been issued as of October 28, 2021, which prorated monthly represents 48 for the year.
Final year totals anticipated to be higher given there are an additional 29 permits are pending.
60
50
40
30
20
10
0
Figure D-4: Permit Issuance in Newport Beach
City of Newport Beach
2018 2019 2020 2021
--*--Permits Issued
This exponential growth is not unique to the City of Newport Beach, but is similarly occurring in all other
cities throughout the State. Table D-2 below illustrates the number of ADUs permitted from 2018-2020
in the various council of governments within the Southern California Council of Governments region. The
data is based on HCD Annual Progress Report (APR) analysis and only includes data from the available
reported years of 2018-2020. Similar to what is being experienced in Newport Beach, it is anticipated that
Appendix D: Accessory Dwelling Units (September 2022 Final Housing Element) D-7
City of Newport Beach
2021-2029 WOt.15ING ELEMENT
reported ADU permits for 2021 will have exponentially grown due to the increased public awareness and
outreach efforts of the various jurisdictions.
Table D-2: ADU Development in SCAG COGs (2018-2020)
900
800
700
600
500
400
300
200
100
0
ADU STATUS
2018
2019
2020
Gateway Cities Council of
129
368
619
Governments (GCCOG)
Orange County Council of
282
419
827
Governments (OCCOG)
Westside Cities Council of
72
96
96
Governments (WSCCOG)
San Gabriel Valley Council of
199
395
509
Governments (SGVCOG)
Ventura Council of
126
109
224
Governments (VCOG)
Source: SCAG ADU APR Permit Reporting Data Analysis
Figure D-5: Council of Governments in the SCAG Region
Council Of Governments in SCAG Region
2018 2019 2020
tGCCOG tOCCOG tWSCCOG --*—SGVCOG tVCOG
Newport Beach 2021-2029 ADU Projections
Based on the data in Table D-1, the citywide availability of land for ADU development and the existing and
future policies supporting more aggressive ADU development, Newport Beach is reasonably and justifiably
projecting future growth beyond the safe harbor methodology provide in HCD's published guidance.
Table D-3: 2021-2029 ADU Annual Average
Appendix D: Accessory Dwelling Units (September 2022 Final Housing Element) D-8
City of Newport Beach
2021-2029 HOUSING ELEMENT
Year
Conservative Approach
2018 - 2021 Prorated Annual
Average
19
Annual Average x 1.5
30 (rounded)
Planning Period Total
240
Table D-3 shows the City's ADU assumptions as described in Appendix B of the Housing Element. As
noted, the City anticipates that growth in ADU development will continue to occur year over year;
however, the City is assuming a conservative approach by anticipating a growth factor of approximately
1.5 times the past four-year average of 19 ADUs (approximately 30 ADUs per year anticipated), resulting
in a total anticipated production of 240 ADUs for the 2021-2029 Planning Period. A 1.5 factor for growth
is reasonable given the development trends illustrated in Tables D-1 and D-3, extensive local policy
emphasis on ADU development, and proposed housing programs described in Section 4. In addition, the
City is committed to enhanced monitoring to ensure actual production is on pace with projections.
The City of Newport Beach is well positioned, both from an availability of potential development areas
within existing single -unit neighborhoods and from a political will standpoint, to realize a large increase
in ADU development significantly exceeding the conservative estimate of 240 ADUs during the 2021-2029
planning period.
Housing Element Policy Frame wort
The City of Newport Beach has identified programs to maintain and encourage ADUs during the 2021-
2029 planning period. The matrix below identified existing policies contain in Section 4 of this document
as well as policies the City will review for feasibility to implement in order to increase affordable housing.
Table D-3: ADU/JADU Policies and Policy Considerations
ADU Policy Type/Name
Description
Consideration
Housing Element Policies
Policy Action 1H: Accessory
Support and encourage
Explore feasibility of incentives for ADUs, including
Dwelling Unit Construction
the development of
developing educational campaigns and minimizing
ADUs in Newport Beach
development costs through permit ready plans.
Policy Action 11: Accessory
ADU development
To identify progress and make appropriate
Dwelling Units Monitoring
Tracking Program
program adjustments, the City will monitor ADU
Program
applications and approvals.
Policy Action 1J: Accessory
Legalizing unpermitted
Providing education, incentives and low -risk
Dwelling Units Amnesty
ADUs
avenues to encourage property owners to legalize
Program
unpermitted ADUs and bring them up to
necessary fire and life safety codes.
ADU Policies for Consideration
ADU Development
Permit Ready Program
Developing and offering of pre -approved ADU
Streamlining
building plans to help to reduce cost burden on
applicant side.
JADU Incentive Production
Junior ADU Program
Evaluate additional incentives for JADU
production above those currently offered.
Appendix D: Accessory Dwelling Units (September 2022 Final Housing Element) D-9
City of Newport Beach
2021-2029 HOUSING ELEMENT
ADU Policy Type/Name
Description
Consideration
Public Outreach and ADU
ADU Outreach Program
Formal development of public outreach and
Education Program
dissemination of materials for ADU and JADU
(both electronically and in print).
ADU/JADU Subsidy Program
Subsidy incentives to
Provide grants or low interest loans to interested
construct ADUs
property owners in exchange for deed restricted
ADU/JADUs.
Production/Incentives
Incentives to create long
Granting fee waivers, additional development
term affordability of
standards waivers, or square footage bonuses in
ADU/JADU
exchange for affordability covenants.
ADU and JADU Incentive
Various development
• Fee Waiver/Deferral
Programs
standards and
• Over the Counter Approvals
entitlement streamlining
• ADU One Stop Permit
actions
• Subsidies for Affordability
Summary of Newport Beach ADU Approach
Anticipated ADU Growth (Planning Period 2021-2029)
Newport Beach anticipates that the City will continue to see year after year growth in ADU development
which matches or exceeds the growth in ADU activity shown from 2019 to 2020. The City has over 21,000
single -unit dwelling units, all of which are eligible to develop one ADU and one JADU. Additionally, multi-
unit apartment complexes can also develop ADUs if the requirements of State law and the City's local
ordinances are met.
While the City anticipates hundreds of ADUs to be developed within the 2021-2029 planning period based
on increased production of ADUs year over year as demonstrated in Table D-2, for the purposes of the
Housing Element, the City is conservatively estimating 240 ADUs.
In accordance with HCD/SCAG guidance on affordability assumptions within the Housing Element Update
process, the City anticipates that 151 of these units will be affordable to residents within the very low and
low-income categories, 84 will be affordable to residents within the moderate income category, and 48
will be affordable to residents within the above moderate -income category.
Supportive Policies and Programs
Newport Beach has proposed programs within the 2021-2029 Housing Element to take meaningful steps
towards promoting and incentivizing ADU growth during the planning period. The City will explore
incentives beyond what has been established to date, including the potential for permit -ready plans or a
streamlined process if certain requirements are met. Table D-3 outlines a list of further ADU incentives
that the City may explore during implementation of Policy Action 1H. The City also plans to continue its
ADU amnesty program to bring existing non -conforming accessory units up to code so that the City can
realize RHNA credit for these existing housing units within the community.
Appendix D: Accessory Dwelling Units (September 2022 Final Housing Element) D-10
City of Newport Beach
2021-2029 HOUSING ELEMENT
Monitoring Requirements
The City of Newport Beach is required to report all development within the City, including ADU
development, to the State Department of Housing and Community Development (HCD) annually through
their Annual Progress Reports (APRs). As part of this reporting, the City must show adequate progress in
meeting their identified ADU growth assumptions as described above.
To address HCD's ADU monitoring and reporting requirements, the City has included Program 11 within
the Housing Plan (Section 4). This states that the City will conduct an assessment of ADU growth within
two years of adoption of the Housing Element. If ADU assumptions are not keeping pace with the
assumptions made within the Housing Element, the City will implement fall back actions to accommodate
the shortfall, if necessary.
Appendix D: Accessory Dwelling Units (September 2022 Final Housing Element) D-11
i
EXHIBIT B
18-20
Revised
Document
Section
HCD Comments
Reference
A. Housing Needs, Resources, and Constraints
1. Affirmatively furtherfing] fair housing in accordance with Chapter 15 (commencing with Section
8899.50) of Division 1 of Title 2... shall include an assessment of fair housing inthe jurisdiction.
(Gov. Code, § 65583, subd. (c)(10)(A)J
The element includes some data and information regarding affirmatively furthering fair housing
(AFFH) but it must still add data, local knowledge, analysis, and other relevantfactors to
address this statutory requirement, as follows:
Regional Patterns and Trends: For all categories of analysis
Pg. 3-56
(segregation and integration.. racially and ethnically
concentrated areas of poverty and affluence, accessto
opportunity, and disproportionate housing needs, including
displacement). the element addresses some requirements to
analyze local patterns and treads. However,the element must
also analyze regional patterns and trends for each category
and subcategory of analysis. A regional analysis should
compare conditions at the local level to the rest of the region.
This analysis could compare the locality at a county levelor
other subregional geography.
Segregation and Integration: The element analyzes
Pg.3-66
segregation and integration on thebasis of race at the local
level. However, this component of the analysis should also
address segregation and integration by disability, familial
status, and income. The analysis must also conclude with a
summary of fair housing issues.
City of Newport Beach
HCD Review Matrix - October 12, 2021 Letter Page 1
18-21
Revised
Document
Section
HCD Comments
Reference
Access to Opportunity: The element addresses some of the
Pg. 3-75 to 3-80, and
requirements for access toopportunity, discussing economic,
Figure 3-7
environmental, and transportation opportunity. It should also
address access to educational opportunity.
Figure 3-s
Figure 3-9
Disproportionate Housing Needs: Currently, the element
Pg 3-98
provides data and limited analysis for cost burden and
See new Figure in
overcrowding. The analysis of disproportionate housing
Section 3
needs should also address substandard housing.
homelessness, and displacement risk.
Local Data and Knowledge: In addition to the data sources
Pg. 3-116
relied on in the current draft.. the element must support its
analysis with local data and knowledge, including information
obtained through community participation or consultation.
Site Inventory: The element contains an analysis of the site
See added Figures:
inventory that does not fullyidentify whether sites improve or
Figure 3-22
exacerbate conditions or whether the sites are isolated by
income group. A full analysis should address the income
Figure 3-23
categories of identified sites with respect to location, the
Figure 3-24
number of sites and units by all income groups and how that
Figure 3-25
effects the existing patterns for all components of the
See narrative:
assessmentof fair housing (e.g.. segregation and integration,
access to opportunity). The element should also discuss
Pg. 3 110 115
whether the distribution of sites improves or exacerbates
conditions, If sites exacerbate conditions, the element should
City of Newport Beach
HCD Review Matrix - October 12, 2021 Letter Page 2
18-22
Revised
Document
Section
HCD Comments
Reference
identify further program actions that will be taken to mitigate this
(e.g. anti -displacement strategies).
Contributing Factors: The element describes contributing factors
Pg. 3-56
from the Orange County Analysis of Impediments (p. 3-60) but
Pg. 3-116
should also tailor contributing factors unique to the City.
Contributing factors should be based on all the prior efforts and
analyses (outreach, assessment of fair housing, and site
inventory) and should be prioritized to demonstrate the most
salient fair housing issues in Newport Beach, The analysis shall
result in strategic approaches to inform and connect goals and
actions to mitigate contributing factors to fair housing issues.
Strategies and Actions: Goals and actions must significantly
Pg. 4-15
seek to overcome contributing factors to fair housing issues.
Currently. the element includes Policy Action4A (Affirmatively
Furthering Fair Housing), which commits the City to reviewing
discrimination complaints, assisting in dispute resolution, and
referring complaints to the proper authority, in collaboration with
local and regional organizations, This is not adequate to satisfy
the requirement for specific and meaningful actions. Program
actions should be proactive, facilitate meaningful change, and
respond directly to the contributing factors to fair housing that
were identified. Furthermore, the element must include metrics
and milestones for evaluating progress on programs, actions,
and fair housing results. The element must add and revise
programs based on a complete analysis and drawn from the
City of Newport Beach
HCD Review Matrix - October 12, 2021 Letter Page 3
18-23
HCD Comments
identified and prioritize contributing factors to fair housing
issues.
Revised
Document
Section
Reference
2. Include an analysis of population and employment trends and documentation of
projections and a quantification of the locality's existing and projected needs for allincome
levels, including extremely low-income households. (Gov. Code, § 65583, subd. (a)(1).)
While the element quantifies the existing housing needs of Pg. 2-29 to 2-32
extremely low-income (ELI) households, it must still quantify
projected ELI housing needs. The projected housing need for
ELI households can be calculated by using available census
data to determine the number of very low-income households
that qualify as ELI households orpresume that 50 percent of
very low-income households qualify as ELI households.
City of Newport Beach HCD Review Matrix - October 12, 2021 Letter Page 4
18-24
1. An inventory of land suitable and available for residential development, including vacant sites
and sites having realistic and demonstrated potential for redevelopment during the planning
period to meet the locality's housing need for a designated incomelevel, and an analysis of the
relationship of zoning and public facilities and services to these sites. (Gov. Code, § 65583,
subd. (a)(3)•)
The City has a regional housing need allocation (RHNA) of 4,845 housing units, of which 2,386
are for lower -income households. To address this need, the element relieson vacant and
nonvacant sites across six Focus Areas throughout the City. To demonstrate the adequacy of
these sites and strategies to accommodate the City's RHNA, the element most include complete
analyses:
Progress in Meeting the RHNA: The element indicates (pp. B—
New Table B-2
7-10) that five projects consisting of 120 affordable units and
Projects in the
1,471 above moderate -income units are in the pipeline. but it
Pipeline summary
provides no information about these projects except their
names. The City's RHNA may be reduced by the number of
new units built since ,dune 30, 2021; however, the element
must demonstrate the affordability of these units to the various
income groups based on actual sales price, rent level or other
mechanisms ensuring affordability (e.g., deed restrictions).
The element must also describe the approval status and basic
features of these projects to demonstrate their anticipated
availabilityin the planning period.
Realistic Capacity: The element provides various assumptions
Section Pg. B-1
of buildout for sites included in the inventory's six Focus Areas,
Additional narrative
assuming close to the maximum yield on each site and then
in each focus area
applying a percentage to the Focus Area as a whole (e.g.,18
summary discussion
percent for the Airport Area Environs Focus Area). It must also
See new section of
provide support for these assumptions. For example, the
narrative Pg B- 15.
element should demonstrate what specific trends, factors, and
Where we have
other evidence led to the assumptions, The estimate of the
history/projects in
City of Newport Beach
HCD Review Matrix - October 12, 2e21 Letter Page 5
18-25
numberof units for each site may need to be adjusted based on
the land use controls and site improvements, typical densities of
existing or approved residential developments at a similar
affordability level in that jurisdiction, and on the current or
planned availability and accessibility of sufficient water, sewer,
and City utilities.
the pipeline, we
have added a table
to the Focus Area
summaries. New
narrative for all
areas, extra for
Coyote Canyon and
Banning Ranch.
In addition, for sites where zoning allows 100 percent
We have adjusted
nonresidential uses, this analysismust adjust for the likelihood
forthe likelihood of
of nonresidential development. For example, the element could
residential
describe the underlying zoning, whether 100 percent
development as a
nonresidential developmentis allowed in these zones, and any
whole. Excepting
relevant programs or policies the City is undertakingto facilitate
Coyote Canyon and
residential development in nonresidential zones.
Banning Ranch,
redevelopment
percentages are
c50/o, which
accounts for mixed -
uses. Supportive
evidence found in
New Table B-9.
Attachment B-1
describes past
performance of
projects
Suitability of Nonvacant Sites: The element must include an
Pg. B-3 to B-9
analysis demonstrating thepotential for redevelopment of
Pg. B_17
nonvacant sites. To address this requirement, the element
describes in general the existing use of each nonvacant site
Narrative in Tables
(e.g., office building). This alone is not adequate or to
B-8to s-Zs
demonstrate the potential for redevelopment in the planning
City of Newport Beach
HCD Review Matrix - October 12, 2021 Letter Page 6
18-26
period. The analysis should consider factors including the extent
Summary of non
to which existing uses may constitute an impediment to
vacant past history
additional residential development, the City's past experience
in Table B-2
with converting existing uses to higher densityresidential
Attachment B-1
development, the current market demand for the existing use,
describes past
an analysis ofany existing leases or other contracts that would
performance of
perpetuate the existing use or preventredevelopment of the site
projects
for additional residential development, development trends,
market conditions. and regulatory or other incentives or
standards to encourage additional residential development on
these sites. For example, the element could consider indicators
such as age and condition of the existing structure, presence of
expiring leases, expressed developer interest, low improvement
to land value ratio, andother factors. The element should
describe and support (through development trends) the
thresholds used to identify sites for redevelopment.
In addition. specific analysis and actions are necessary if the
See analysis in Table
housing element relies upon nonvacant sites to accommodate
B-8 to 8-18 and
more than 50 percent of the RHNA for lower- income
additional
households. For your information, the housing element must
supportive narrative
demonstrate existing uses are not an impediment to additional
on Pg. B-17, B-4, B-5,
residential development and will likely discontinue in the
8-21, 8-36, 8-41, B-
planning period. (Gov. Code, § 65583.2, subd. (g)(2).) Absent
55, 8-73, 8-77
findings (e.g., adoption resolution) based on substantial
evidence, the existing uses willbe presumed to impede
additional residential development and will not be utilized toward
Attachment B-1
describes past
demonstrating adequate sites to accommodate the RHNA.
performance of
projects
Small and Large Sites: While the narrative claims that sites We have adjusted
smaller than 0.5 acres and larger than 10 acres were excluded the buildable
from consideration for lower -income RHNA. the parcel listing acreage on the large
City of Newport Beach HCD Review Matrix - October 12, 2021 Letter Pale
18-27
appears to include several such sites. The element must
site and support
describe whether these parcels are expected to develop
with the
individually or consolidated with the other small parcels. For
development history
parcels anticipated to be consolidated, the element must
provided, as well as
demonstrate the potential for lot consolidation. For example,
the written interest
analysis describing the City's role or track record in facilitating
provided within the
small -lot consolidation: policies or incentives offered or
letters to boisterthis
proposed to encourage and facilitate lot consolidation,
comment.
conditions rendering parcels suitable and ready for
redevelopment, recent trends of lot consolidation, and
information on the owners of each aggregated site. For parcels
anticipated to develop individually; the element must describe
existing and proposed policies or incentives theCity will offer to
facilitate development of small sites. This is important given the
necessary economies of scale to facilitate development of
housing affordable to lower -income households.
To demonstrate the viability of appropriate development in the
PG. B-74 and B-77
Coyote Canyon and Banning Ranch Focus Areas.. the
element must include analysis demonstrating the feasibility of
large parcel development of housing affordable to lower -
income households. In Coyote Canyon. the primary site is
243.23 acres with 22 buildable acres, and Banning Ranch
includes several hundred acres of land. The element must
demonstrate the suitability and availability of these areas for
residential development affordable to lower -income
households, particularly considering that typical affordable
developments range in size from 50 to 150 units. The analysis
could describe strategies such as opportunities for specific -
plan development and further subdivisionor other methods to
facilitate the development of housing affordable to lower -
income households on large sites.
City of Newport Beach
HCD Review Matrix - October 12, 2021 Letter page 8
Banning Ranch: The element assumes 1,475 units in the
See narrative Pg. B-
Banning Ranch Focus Area, explaining without further detail
77 to B-80
that "the City understands that future opportunities maystill exist
for housing development on the Banning Ranch' (p. B-56).
HCD understandsthis area might not be available for residential
development in the planning period. The element must analyze
potential environmental constraints and any other known
conditions that may preclude or impact residential development
during the planning period. Based on the outcomes of this
analysis. the element should adjust assumptions and add or
modify programs as appropriate.
Accessory Dwelling Units (ADUs): The element assumes an
Methodology added
average of 125 ADUs per year will be constructed during the
to accommodate
planning period, for a total of 1,000 ADUs. The element's
HCD's stated
analysis and programs do not support this assumption. Based
acceptable count of
on HCD records and numbers reported in the element, the City
240 ADUs for the
is averaging about 5 ADU permits per year since 2018. To
planning period.
include a realistic estimate of the potential for ADUs, the
Supportive
element must reduce the number of ADUs assumed per year
methodology is
and include policies and programs that incentivize the
provided in
production of ADUs. Depending on the analysis, the element
Appendix D.
must commit to monitor ADU production throughout the course
of the planningperiod and implement additional actions if not
meeting target numbers anticipated in the housing element. In
Table reflects
addition to monitoring production, this program should also
A
revised Du counts
monitor affordability. Additional actions. if necessary, should be
taken in a timely manner (e.g_, within 6 months). Finally, if
necessary, the degree of additional actions should be in stride
with the degree of the gap in production and affordability. For
example, if actual production and affordability of ADUs is far
from anticipated trends, then rezoning or something similar
would be an appropriate action. If actual productionand
City of Newport Beach
HCD Review Matrix - October 12, 2021 Letter Page 9
18-29
affordability is near anticipated trends, then measures like
outreach and marketingmight be more appropriate.
Sites with Zoning for a Variety of Housing Types:
Zones described in
Single Room Occupancy (SRO) Units: The element does
Pg. 3-19
not demonstrate a zone(s) where SROs are an allowable
use. The analysis should clarify the City'sprocess for SROs
and add or modify programs as appropriate.
Accessory Dwelling Units (ADUs): For your information,
to accommodate
HCD's ADU team has identified several areas in which the
HCD's stated
City's ADU ordinance appears to be out of compliance with
acceptable count of
State ADU Law. HCD will reach out with findings and
240 ADL)s for the
guidanceunder separate cover.
planning period.
Supportive
methodology is
provided in
Appendix D.
Table B-1 reflects
revised ADU counts
2. An analysis of potential and actual governmental constraints upon the maintenance, improvement,
or development of housing for all income levels, including the types of housing identified in
paragraph (1) of subdivision (c), and for persons with disabilities as identified in the analysis
pursuant to paragraph (7), including land -use controls, building codes and their enforcement, site
improvements, fees and other exactions required of developers, and local processing and permit
procedures. The analysis shallalso demonstrate local efforts to remove governmental constraints
that hinder the locality from meeting its share of the regional housing need in accordance with
Government Code section 65584 and from meeting the need for housing for persons with
disabilities, supportive housing, transitional housing, and emergency shelters identified pursuant to
City of Newport Beach
HCD Review Matrix - October 12, 2021 Letter Page 10
18-30
paragraph (l). Transitional housing and supportive housing shall be considered a residential use of
property, and shall be subject only to those restrictions that apply to other residential dwellings of
the same type in the same zone.(Gov. Code; § 65583, subd. (a)(5))
Land -Use Controls: The element must identify and analyze all
Pg. 3-16 (height)
relevant land -use controls as potential constraints on a variety
Pg. 3-18 (parking)
of (rousing types, both independently andcumulatively with
other land -use controls. The analysis should further address
height
maximums in the Multiple Residential (RM) zone and the
various Mixed -Use (MU) zones. especially as they relate to the
Height Overlay and describe if the height ovedayor heights
allowing more than two stories will apply to the sites included in
the inventory. Additionally, the element should analyze the
requirement for two covered parking spaces per unit plus 0.5
spaces of guest parking for every dwelling in a multi- family
development of four or more units. Programs to mitigate
potential constraints should be added or modified as
appropriate.
Design Review: The element must describe and analyze any
Pg. 3-38
design review guidelines and processes the City has, including
Pg. 3-42 and Policy
approval procedures and decision -making criteria.. for their
3A
impact as potential constraints on housing supply and
affordability. Forexample. the analysis could describe required
findings and discuss whether Objective standards and
guidelines improve development certainty and mitigate cost
impacts.
The element must demonstrate this process is not a
constraint or it must include aprogram to address this
permitting requirement, as appropriate.
City of Newport Beach
HCD Review Matrix - October 12, 2021 Letter Page 11
18-31
Constraints to Housing for Persons with Disabilities: While the
Pg. 3-22 to 3-24
element provides some details on residential care facilities and
other group homes, the City did not provide an analysis of the
impact on housing for lower -income households and persons with
disabilities. The element details that residential care facilities
serving six or fewer persons are permitted in all residential zones.
However, residential care facilities serving seven or more persons
require a conditional use permit (CUP). The element should analyze
the process as a potential constraint on housing for persons with
disabilities and add or modifyprograms as appropriate to ensure
zoning permits group homes objectively with approval certainty. For
example, imposing standards such as compatibility with
surrounding uses would be considered a constraint.
Although local ordinances and policies are enacted to protect the
health and safety of citizens and further the general welfare. it is
useful to periodically reexamine local ordinances and policies to
determine whether, under current conditions; they are
accomplishing their intended purpose or constituting a barrier to the
maintenance, improvement or development of housing for all
income levels. Such an examination may reveal that certain policies
have a disproportionate or negative impact on the development of
particular housing types or on housing developed for persons with
disabilities. Ordinances, policies, or practices that have the effect of
excluding protected populations such as persons with disabilities
may also violate state and federal fair housinglaws that prohibit any
land -use requirements that discriminate (or have the effect of
discriminating) against affordable housing.
City Charter Section 423: The element describes the
Pg. 3-28 to 3-30
background and process of City Charter Section 423. which
Pg. 4-3
subjects certain amendments to the City's general plan to
voter approval. However, the analysis of Section 423's
potential as a constraint to housing development is limited. A
City of Newport Beach
HCD Review Matrix - October 12, 2021 Letter Page 12
18-32
full analysis should demonstrate local efforts to remove
governmental constraints that hinder the locality from meeting
its share of theregional housing need and from meeting the
need for housing for persons with disabilities, supportive
housing, transitional housing, and emergency shelters. In
addition, the element should indicate if any of the potential
rezones to accommodate the RHNA will be subject to voter
approval and include a program that outlines the steps, timing
for voter approval and alternative actions with dates if
milestones are not met.
3. An analysis of potential and actual nongovernmental constraints upon the maintenance,
improvement, or development of housing for all income levels, including the availability of
financing, the price of land, the cost of construction, the requests to develop housing at densities
below those anticipated in the analysis required by subdivision (c) of Government Code section
65583.2, and the length of time between receiving approval for a housing development and submittal
of an application for building permits for that housing development that hinder the construction of a
locality'sshare of the regional housing need in accordance with Government Code section 65584.
The analysis shall also demonstrate local efforts to remove nongovernmental constraints that create
a gap between the locality's planning for the development of housing for all income levels and the
construction of that housing. (Gov. Code, § 65583, subd. (a)(6).)
The element must include analysis of the length of time
between receiving approval fora housing development and
submittal of an application for building permits that potentially
hinder the construction of the Jurisdiction's share of the regional
housing need.
City of Newport Beach
Pg. 3-38
HCD Review Matrix - October 12, 2021 Letter Page 13
18-33
4. Analyze any special housing needs such as elderly; persons with disabilities, includinga
developmental disability; large families; farmworkers; families with female heads of households;
and families and persons in need of emergency shelter. Gov. Code, § 65583, subd. a 7 .
Summary added
While the element quantifies the City's special needs populations,
€or all special
it must also analyzetheir special housing needs. For a complete
needs groups:
analysis of each population group, the element should discuss
pg. 2-19
challenges faced by the population, the existing resources to meet
pg. 2-22
those needs (availability senior housing units, number of large
Pg. 2-23
units, number of deed restricted units, etc.), an assessment of any
pg. 2-24
gaps in resources, and proposed policies, programs, and funding
Pg. 2-25
to help address those gaps.
Pg. 2-27
Pg. 2-28
Pg, 2-29
Pg. 2-31
Pg. 2-32
Pg. 2-34
Pg. 2-35
City of Newport Beach
HCD Review Matrix - October 12, 2021 Letter Page 14
18-34
A. Housinq Programs
1. Include a program which sets forth a schedule of actions during the planning period, each
with a timeline for implementation, which may recognize that certain programsare ongoing, such
that there will be beneficial impacts of the programs within the planning period, that the local
government is undertaking or intends to undertake to implement the policies and achieve
the
goals and objectives of the housing elementthrough the administration of land use and
development controls, the provision of regulatory concessions and incentives, and the
utilization of appropriate federal andstate financing and subsidy programs when available.
The
program shall include anidentification of the agencies and officials responsible for the
implementation of the various actions. Gov. Code, § 65583, subd. c .
To address the program requirements of Government Code
Summary of
quantified
section 65583, subdivision(c)(1-6). and to facilitate
objectives
implementation, programs should include: (1) a description of
provided in Table
the City's specific role in implementation; (2) definitive
4.1
implementation timelines; (3) objectives. quantified where
appropriate, and (4) identification of responsible agencies and
officials. For example, Policy Action 1J (ADU Amnesty Program)
should be revisedto include a quantified objective for the
number of households expected to utilize the program.
Please note that several programs involve taking action to
See revised
comply with state law, andas such should include timelines
programs, as
that ensure a beneficial impact by committing to compliance
appropriate.
within the first year of the planning period. Programs with
Please note
actions that require an accelerated timeframe include Policy
implementation
Action 3B (SB 35 Streamlining) and Policy Action 7A
timelines do not
(Supportive Housing i Low Barrier !Navigation Centers).
absolve city from
compliance with
the law
immediately.
City of Newport Beach
HCD Review Matrix - October 12, 2021 Letter Page 15
18-35
Z. Identify actions that will be taken to make sites available during the planning period with appropriate zoning and
development standards and with services and facilities to accommodate that portion of the city's or county's share of the
regional housing need for each income level that could not be accommodated on sites identified in the inventory
completed pursuant to paragraph (3) of subdivision (a) without rezoning, andto comply with the requirements of
Government Code section 65584.09. Sites shall beidentified as needed to facilitate and encourage the development of a
variety of types of housing for all income levels, including multifamily rental housing, factory -built housing,
mobilehomes, housing for agricultural employees, supportive housing, single -room occupancy units, emergency shelters,
and transitional housing. (Gov. Code, § 65583, subd. (c)(1).)
As noted in Finding A3, the element does not include a
See Appendix Bedits d5
complete site analysis, therefore, the adequacy of sites and
referenced above,
zoning were not established. Based on the resultsof a complete
sites inventory and analysis, the City may need to add or revise
programs to address a shortfall of sites or zoning available to
encourage a variety of housing types. In addition; the element
should be revised as follows:
Zoning to Accommodate a Shortfall of Site for Lower: Pursuant to
See revise Policy
1G
Government Code 65583.2, subdivisions (h) & (i), Policy Actions
1A—IF, which rezone sites to accommodate the City's shortfall in
satisfying the RHNA, must commit to the following:
permit owner -occupied and rental multifamily uses by -
right for developments in which 20 percent or more of the
units are affordable to lower -income households. By -right
means local government review must not require a CUP,
planned unit development permit, or other discretionary
review or approval.
• accommodate a minimum of 16 units per site;
+ require a minimum density of 20 units per acre; and
+ at least 50 percent of the lower -income need must be
accommodated on sitesdesignated for residential use
only or on sites zoned for mixed uses that
City of Newport Beach
HC0 Review Matrix - October 12, 2021 Letter Page 16
18-36
accommodate all of the very low and low-income
housing need, if those sites:
allow 100 percent residential use, and
require residential use occupy 50 percent of the total floor
area of a mixed -use roject.
In addition, if the rezoning of sites is subject to a voter approval
Pg. 4-3
City Charter Section 423, the program must detail any
necessary steps timing for completion of those stepsand
alternative measures with dates if milestones are not met.
Please be aware. if voter approval is required and subsequently
rejected, the housing element may no longer comply with state
law.
Sites Identified in Prior Planning Periods: The element
Pg, 4-6
includes Policy Action 1 G {5` Cycle Housing Element Sites),
which addresses the requirement for nonvacant
sites identified in a prior planning period to permit residential
uses by -right for developments in which 20 percent of units
are affordable to lower -income households. This program
must also commit to zoning those sites to allow Newport
Beach's default density of 30 dulac, pursuant to
Government Code 65583.2, subdivision(c) or at densities
demonstrated to be appropriate for the development of
housing for lower -income households. Additionally, if any
vacant sites in the inventory are being used to
accommodate the lower RHNA and have been identified in
two prior planning periods, the program must ensure that
those sites meet the same requirements.
ADU Monitoring: The element includes Policy Action 11 (ADU
See Revised Policy
ti
Monitoring Program), which commits the City to establishing an
ADU monitoring program. This program should commit explicitly
to monitoring ADU production by affordability, and to
City of Newport Peach
HCD Review Matrix - October 12, 2021 Letter Page 17
18-37
implementing additional actions if not meeting target numbers
at affordability levels anticipated in the housing element.
Additional actions, if necessary, should be taken ina timely
manner (e.g-, within 6 months).
2. Address and, where appropriate and legally possible, remove governmental and
nongovernmental constraints to the maintenance, improvement, and development of
housing, including housing for all income levels and housing for persons with disabilities.
The program shall remove constraints to, arid provide reasonable accommodations for
housing designed for, intended for occupancy by, or with supportive services for, persons
with disabilities. (Gov. Code, § 65583, subd. c (3).
As noted in Finding(s) A4 and A5, the element requires a
See additions
added per findings
complete analysis of potentialgovernmental and
above.
nongovernmental constraints. Depending upon the results of that
Policy changes to
analysis, the City may need to revise or add programs and
4A
address and remove or mitigate any identified constraints.
1G to 1j and Pg. 4-
3
3. Promote AFFH opportunities and promote housing throughout the community or communities
for all persons regardless of race, religion, sex, marital status, ancestry, national origin, color,
familial status, or disability, and other characteristics protected bythe California Fair
Employment and Housing Act (Part 2.8 (commencing with Section 12900) of Division 3 of Title
2), Section 65008, and any other state and federal fair housing and planning law. (Gov. Code,
65583, subd. c 5 .
As noted in Finding Al, the element must include a complete
See AFFH Edits
Assessment of Fair Housing. and Policy Action 4A {AFFH} does
Pg.3-55 to 3-117
not satisfy the requirements for specific and meaningful program
actions. Based on the outcomes of that analysis, the element
See Policy
must add or modify programs. Goals and actions must
amendments to
specifically respond to the analysis and to the identified and
4A.
prioritized contributing factors to fair housing issues and must
be significant and meaningful enough to overcome identified
patterns and trends. Actions must havespecific commitment,
City of Newport Beach
HCD Review Matrix - October 12, 2021 Letter Page 18
metrics and milestones as appropriateand must address
housing mobility enhancement, new housing choices and
affordability in high opportunity areas, place -based strategies for
community preservation and revitalization and displacement
protection. For additional guidance onprogram requirements to
AFFH, please see HCD's guidance at memos.shtml.
4. The housing program shall preserve for low-income household the assisted housing
developments identified pursuant to paragraph (9) of subdivision (a). The program for
preservation of the assisted housing developments shall utilize, to the extent necessary, all
available federal, state, and local financing and subsidy programs identified in paragraph (9) of
subdivision (a), except where a community has other urgent needs for which alternative
funding sources are not available. The program mayinclude strategies that involve local
regulation and technical assistance. (Gov. Code, § 65583, subd. (c)(6).)
The element includes Policy Action 2C (Preservation of At -risk
Pg 3-99 to 3-103
Units). The element identifies 19 units at -risk of converting to
See Policy
market -rate uses in the planning period. Therefore the element
2C
must include a program(s) with specific and proactive actions to
5A
preserve the at -risk units such as developing a plan or strategy
5B
for quickly moving forward in the case units are noticed to
5C
convert to market -rate uses in the planning period. and ensure
5E
tenants receive proper notifications.
C. Public Participation
Local governments shall make a diligent effort to achieve public participation of all economic segments of the
community in the development of the housing element, and theelement shall describe this effort. (Gov. Code, 65583,
subd. (c)(8). )
While the element profiles the strategies undertaken to achieve
Pg. C-4 to C-5
public participation, it mustalso describe how the City reached
Intro Pg. 1-4 to t-
all economic segments of the population in conductingoutreach
5
related to its survey and workshops. particularly lower -income
households; this should also consider language access. The
City of Newport Beach
HCD Review Matrix - October 12, 2021 Letter �a¢e 19
18-39
element should also clarify whether and how any
nongovernmental organizations and other parties were notified.
Public participation in the development, adoption and
implementation of the housing element is essential to effective
housing planning. Throughout the mousing element process, the
City should continue to engage the community, including
organizations that represent lower -income and special needs
households; by malting information regularly available and
considering and incorporating comments where appropriate.
City of Newport Beach
HCD Review Matrix - October 12, 2021 Letter Page 20
18-40
EXHIBIT C
18-41
Revised
Document
Section
HCD Comments Response Reference
A. Housing Needs, Resources, and Constraints
1. Affirmatively furtherfing] fair housing in accordance with Chapter 15 (commencing with Section 8899.50) of
Division 1 of Title 2... shall include an assessment of fair housing in the jurisdiction (Gov. Code. § 65583.
subd. (c)(10)(A))
Regional Patterns and Trends: The element is revised to
include regional analyses for some categories of analysis.
However, the element still does not analyze regional patterns
and trends for al/ categories and subcategories of analysis. In
particular, the element should be revised to include a full
regional analysis for access to educational, economic, and
environmental opportunity; substandard housing;
homelessness: and displacement risk_ For example, for some
topics the element provides a map of surrounding jurisdictions
but does not analyze them or make conclusions, for other topics
it does not address the regional component at all. A complete
regional analysis should compare conditions at the local level to
the rest of the region. This analysis could compare the locality
at a county level or other subregional geography.
City of Newport Beach
The following information Section 3.C.3
was added to the fair
housing section:
• Opportunity indicators
for education and
economic opportunity
(Pg, 3-79 — 80)
• Regional analysis of
education and
economic opportunity
(Pg. 3-80 - 82)
• Analysis of
homelessness (Pg. 3-
88)
• Analysis of
substandard housing
(Pg. 3-102 — 103)
• Additional regional
HCD Review Matrix —January 14, 2022 Letter
Page 1
18-42
Revised
Document
Section
HCD Comments
;Response
Reference
analysis for
disproportionate
needs (Pg. 3-87 —
103)
Segregation and Integration: The element is revised to include
Additional analysis of
Section
reaps of disability status. familial status, and income, but
diversity. homelessness.
3.C.3.Integration
generally does not identity local patterns and trends on these
disability status, familial
and Segregation
topics. A full analysis should go beyond mere reporting of data
status, median income,
Patterns and
and should identify local patterns and trends throughout the
overpayment. and
Trends (Pg. 3-62
jurisdiction. Patterns at a local level must address the extent to
overcrowding was added to
- 64)
which some neighborhoods differ from others and any relevant
the AFFH section. Regional
Section 3.C.3,
factors that may determine that outcome. This analysis should
analysis was also included in
Housing Needs in
lead to a summary of fair housing issues that can inform
these sections. A summary
Newport Beach
contributing factors. goals. priorities, strategies. and actions.
of constraints found through
(Pg. 3-87 — 143)
this analysis can be found in
Section 3.C.3: Assessment
of Contributing Factors.
Access to Opportunity: The element includes analysis that addresses
Additional analysis of the
Section 3.
most requirements for access to opportunity. However, the element's
CalEnviro screen map was
Integration and
discussion of environmental opportunity merely describes
added to the AFFH section.
Segregation
CalEnviroScreen and provides a map_ A full analysis should identify
It was determined that local
Patterns and
patterns and trends throughout the jurisdiction and should lead to a
coastal cities. including
Trends —
summary of fair housing issues that can inform contributing factors.
Newport Beach, experience
Environmental
goals, priorities. strategies and actions. For example, the element
login, pollutant burdens that
Justice (Page 3-
could evaluate the City's environmental justice efforts pursuant to
85 - 86)
City of Newport Beach HCD Review Matrix —January 14, 2022 Letter Page 2
18-43
HCD Comments
Response
Senate Bill (SB) 1000, and discuss any relevant observations. actions, I could be related to the cost
or anticipated outcomes.
of land.
Revised
Document
Section
Reference
Disproportionate Housing Needs: For cost burden and overcrowding,
An analysis for
Section 3.C.3 —
the element is revised to include several maps, but the analysis of
homelessness and
Urban
trends and patterns remains limited. The element is also not revised
substandard housing was
Displacement
to address substandard housing or homelessness. Please refer to
added to the Discussion of
(Pg. 3-103 —
HCD's October 12, 2021, review to meet these requirements. In
Disproportionate Housing
106)
addition, the element's discussion of displacement risk describes the
Needs.
Urban Displacement Project methodology and provides a map. but its
The analysis for
analysis of this topic is limited to a statement that "nearly all of
displacement risk was
Newport Beach is considered Stable/Advanced Exclusive,' without
updated to include the UC
identifying trends or patterns in detail (p. 3-102). The element should
Berkeley urban
describe what trends. patterns, and other local factors have led to this
displacement map and data.
conclusion. and how this finding may inform the City's strategies and
The analysis is regional and
actions. For example, the element could discuss how the City will use
includes information about
these findings to generate new housing opportunity in high -resource
potential trends that may
areas.
have influenced the City's
status as exclusive.
Local Data and Knowledge: The element is not revised to address
this finding. Please refer to HCD's October 12. 2021, review to meet
this statutory requirement.
City of Newport Beach
Local data and knowledge
regarding background on
the City of Newport Beach
and its incorporation, local
data regarding race,
ethnicity, income and
familial status, and
community input has been
included.
HCD Review Matrix —January 14, 2022 Letter
Section 3.C.3 —
Local Data and
Knowledge (Pg,
3-62)
Page 3
18-44
Revised
Document
Section
HCD Comments
Response
Reference
Local Data and Knowledge: in oddition to the dotes sources relied on in the
current draft, the element must support its analysis with local data and
knowledge, including infnrmation obtained through community participation or
consultation.
Site Inventory: The element's analysis of the site inventory is revised
Additionally, analysis of site
Section 3.C.4
to meet some requirements. However. it must still provide a full
placement in relation to fair
(Pg. 3-115 —
analysis of whether sites improve or exacerbate conditions or whether
housing issues has been
121)
the sites are isolated by income group_ Furthermore, the element
included along with the
does not analyze the inventory with respect to disproportionate
impacts the sites may have
housing needs, and its analysis with respect to access to opportunity
on fair housing within the
is limited to a graphic overlaying the inventory on the TCACIHCD
City_
Opportunity Map and the reporting of related data. A complete
analysis should address how the identified sites impact existing
patterns and trends for all components of the assessment of fair
housing,
_Contributing Factors: The element is revised to add several
As noted, several
Section 3.C.3-
contributing factors to fair housing issues_ However, it is not clear how
contributing factors have
Assessment of
these contributing factors respond to the findings of the analysis. The
been included. In this
Contributing
element should ensure that its contributing factors are responsive to
section, each factor is
Factors to Fair
the unique fair housing conditions of the jurisdiction and should
identified and is addressed
Housing (Pg. 3-
prioritize these contributing factors. Additionally, as noted. the
in Section 4: Housing Plan
114 — 1 15)
element does not contain a complete assessment of fair housing.
through Policy 4A.
Depending on the results of a complete analysis, the element may
need to add or revise contributing factors as appropriate.
Strategies and Actions: Policy Action 4A (Affirmatively Furthering Fair
The November 2021 draft of
Section
Housing (AFFH)) is revised to include several additional actions.
the Housing Element did not
4.Implementation
However. the element relies sole) on actions which are not
include Policies 30 and 3P;
Actions Policy
City of Newport Beach HCD Review Matrix — January 14, 2022 Letter Page 4
18-45
Revised
Document
Section
HCD Comments
Response
Reference
transformative, meaningful, or specific. Some of these are vague in
however. the final draft does
Action 4A (Pg. 4-
nature (e.g.. "Specific actions to enhance the construction of
now include these additional
20 — 22)
affordable housing', "Exploration of establishing additional or
policies. Action were
augmented assistance programs". etc.) [p. 4-15], and none is drawn
revised to include tangible
from the findings of the analysis. The element must be revised to
action and concrete
include programs that are transformative. meaningful. and specific.
timelines in Policy 4A. More
and which include quantifiable objectives and concrete actions. These
context was also added to
programs should respond directly to the contributing factors from the
inform the policy in order to
assessment of fair housing. Programs must include metrics and
better reflect the needs of
milestones for evaluating progress on programs. actions, and fair
the Newport Beach
housing results.
communi _
2. An inventory of land suitable and available for residential development, including vacant sites and sites
having realistic and demonstrated potential for redevelopment during the planning period to meet the
locality's housing need for a designated income level, and an analysis of the relationship of zoning
Realistic Capacity: The element is revised to support its realistic
Clarified that the actual
Page (B-72)
capacity assumptions by relating the assumptions to trends in
capacity of the Coyote
Appendix B.
residential development. However. the element must still adjust for
Canyon Area is 2,640 and
Section 4,
the likelihood of 100 percent nonresidential development. For more
an assumption of 75
Coyote Canyon
information, please refer to HCD's October 12, 2021, review.
percent development is
Area
In addition, the element claims that "an assumption of approximately
used in order to realistically
50 percent redevelopment" has been applied to the Coyote Canyon
project potential units. The
Focus Area, but then appears to assume the maximum of 1.320 units
assumed buildout is 1,530,
on the site despite this claim (p. B-73). The element should ensure a
or half of the actual capacity
clear statement of capacity assumptions is made for each site.
of the area.
In addition, for sites where zoning allows 100 percent nonresidential
uses. this analysis must adjust for the likelihood of nonresidential
City of Newport Beach HCD Review Matrix - January 14, 2022 Letter Page 5
18-46
Revised
Document
Section
HCD Comments
Response
Reference
development. For example. the element could describe the underlying
`
zoning, whether 100 percent nonresidential development is allowed in
these zones. and any relevant programs or policies the City is
undertaking to facilitate residential development in nonresidential zones.
Suitability of Nonvacant Sites: The element is revised to demonstrate
Clarified that small sites
Appendix B.
trends in redevelopment and connect the inventory's assumptions to
included in the inventory are
Section 3. Small
those trends. However, certain identified nonvacant sites in the
either pipeline projects or
Sites (Pg. B-16 —
Newport Center Focus Area require further support. For example. this
they are sites with letters of
20)
section of the inventory contains several tennis courts, a country club,
interest_ Added a table
a church. and other uses. The element should provide further
describing small sites.
information demonstrating the likelihood of redevelopment for sites in
Added Newport history of lot
this area.
consolidation projects.
Substantial Evidence: For your information.. the housing element must
Added letters of interest
Refer to revised
demonstrate existing uses are not an impediment to additional
Section. 82 non -vacant sites
narrative in
residential development and will likely discontinue in the planning
have letters of interest,
Appendix B,
period. (Gov. Code, § 65583.2, subd. (g)(2).) Absent findings (i.e.,
proving that developers in
Sections 3-5.
adoption resolution) based on substantial evidence, the existing uses
Newport Beach are willing
Letters of
will be presumed to impede additional residential development and
to redevelop non -vacant
Interest
will not be utilized toward demonstrating adequate sites to
parcels. Additionally. City
And Findings are
accommodate the regional housing needs allocation (RHNA).
Council Resolution No.
provided in the
2022-14provides additional
adopting
findings of substantial
resolution.
evidence.
Small and Large Sites: The element is revised to include some
Added a section on the
See revised
examples of small sites that were consolidated. However, it must also
history of small site
Narrative on Pg.
provide analysis demonstrating the potential for lot consolidation. For
development and lot
B-16 - 20)
example, the analysis could describe the City's role or track record in
consolidation within the
facilitating small -lot consolidation, policies or incentives offered or
City, There is also evidence
City of Newport Beach HCD Review Matrix —January 14, 2022 Letter
Page 6
18-47
HCD Comments
Response
Revised
Document
Section
Reference
proposed to encourage and facilitate lot consolidation, conditions
from Letters of Interest that
rendering parcels suitable and ready for redevelopment, recent trends
small sites are desirable for
of lot consolidation. and/or information on the owners of each
development and would
aggregated site.
likely be consolidated.
The element is revised to provide an analysis of environmental
constraints for the large sites in the Coyote Canyon area, but
otherwise does not address this finding. Please refer to HCD's
October 12, 2021. review to meet this statutory requirement.
To demonstrate the viability of appropriate development in the Coyote
Units provided by Banning
See revised
Carryon and Banning Ranch Focus Areas. the element must include
ranch are no longer to be
Appendix B
analysis demonstrating the feasibility of large parcel development of
counted directly to the
analysis of
housing affordable to lower -income households. In Coyote Carryon. the
RHNA but may apply
Coyote Canyon.
primary site is 243.23 acres with 22 buildable acres. and Banning Ranch
towards RHNA in the event
includes several hundred acres of land. The element must demonstrate
the City's RHNA Allocation
Banning Ranch
the suitability and availability of these areas for residential development
is met within the site
has been
+ affordable to lower -income households, particularly considering that
inventory and the City
excluded has
typical affordable developments range in size from 50 to 150 units. The
receives a project
accommodating
analysis could describe strategies such as opportunities for specific -plan
application that meets the
RHNA Need, but
development and further subdivision or other methods to facilitate the
City's requirements. Coyote
included as a
development of housing affordable to lower -income households on large
Canyon has high interest
future policy
sites.
from a developer selected
option consistent
through the County of
with existing city
Orange's RFP process with
policy.
a plan to develop
approximately 34 acres of
land at 60 du/acre and at 75
percent redevelopment.
City of Newport Beach
HCD Review Matrix — January 24, 2022 Letter
Page 7
18-48
Revised
Document
Section
HCD Comments
Response
Reference
Banning Ranch: The element is revised to include further detail about Dwelling units provided by
Revised
the background and potential constraints of the Banning Ranch site. Banning Ranch have been
narrative in
including the City's past and current efforts to make the site available_ removed from the City's
Section 3.
However. HCD understands that this area is unlikely to support RHNA allocation. However.
Section 4 and
residential development in the planning period as the property is soon it remains an opportunity
Appendix B. for
expected to be set aside as open space, and the element does not site.
all references to
provide compelling evidence to the contrary. Please note that while
Banning Ranch
the City may choose to keep the site in its inventory: unless
compelling information, analysis. and programs are added. HCD will
not utilize the Banning Ranch site towards the City's RHNA. The
element should adjust its assumptions as appropriate.
Zoning for a Variety of Housing Types:
SROs were added to Table
Narrative added
• Single -room Occupancy (SROs). The element is revised to list the
3-8. A description of the
to Pg 3-22
zones where SROs are a permitted use but does not clarify the City's
permitting process for SROs
process for SROs in these zones. The analysis could discuss whether
is included and describes
the City has special permits. development standards. approval
that the City considers them
findings or other features of the permit process that may pose a
under the classification of
potential constraint. Programs should be added or modified as
Visitor Accommodations. It
appropriate.
is clarified that the City
would not impose any
special restrictions or
conditional uses for SROs.
3. An analysis of potential and actual governmental constraints upon the maintenance. improvement, or development of
housing for all income levels, including the types of housing identified in paragraph (1) of subdivision (c), and for
persons with disabilities as identified in the analysis pursuant to paragraph (7). including land use controls, building
City of Newport Beach HCD Review Matrix — January 14, 2022 Letter Page S
18-49
HCD Comments
Response
Revised
Document
Section
Reference
codes and their enforcement, sire improvements: fees and other exactions required of developers. and local processing
and permit procedures. The analysis shall also demonstrate local efforts to remove governmental constraints that hinder
the locality from meeting ifs share of the regional housing need in accordance with Government Code section 65584
and from meeting the need for housing for persons with disabilities, supportive housing. transitional housing, and
emergency shelters identified pursuant to paragraph (7). Transitional housing and supportive housing shall be
considered a residential use of property. and shall be subject only to those restrictions that apply to other residential
dwellings of the same type in the same zone. (Gov. Code, § 655837 subd. (a)(5).)
Housing for Persons with Disabilities: The element is revised to
More information was
Section 3.B.
include further language regarding residential care facilities. which
added about the CUP
Local Processing
largely seeks to justify the City's policy of a Conditional Use Permit
process in general. The City
and Permit
(CUP) for residential care facilities of seven or more persons. These
offers free -of -charge
Procedures -
revisions do not describe or analyze the CUP process itself. Such
Development Review
Conditional Use
permits have the potential to subject housing for persons with
Committee meetings. It
Permits (Pg. 3-
disabilities to higher discretionary standards where an applicant must
should also be noted that in
39 — 43). Section
demonstrate compatibility with the neighborhood, unlike other
the event that CUP
4_ Policy Action
residential uses. The element should analyze the process as a
processing proves to be a
3P on page 4-1 S.
potential constraint on housing for persons with disabilities,
barrier or constraint to
considering the process' impact on approval certainty: timing. supply,
Section 20.52.070 of the
and other relevant factors. Depending on the results of a complete
Zoning Code provides
analysis, the element should add or modify programs to ensure
procedures for obtaining
zoning permits group homes objectively and with approval certainty.
reasonable accommodation
from the permitting
requirements. Policy Action
3P has been added to
examine the effect of the
CUP process on providing
City of Newport Beach
HCD Review Matrix —January 14, 2022 Letter
Page 9
18-50
Reprised
Document
Section
HCD Comments
Response
Reference
large residential care
facilities.
4. An analysis of potential and actual nongovernmental constraints upon the maintenance, improvement, or
development of housing for all income levels, including the availability of financing. the price of lane(. the cost of
construction,. the requests to develop housing at densities below those anticipated in the analysis required by
subdivision (c) of Government Code section 65583.2: and the length of time between receiving approval for a housing
development and submittal of an application for building pert -nits for that housing development that hinder the
construction of a locality's share of the regional housing need in accordance with Government Code section 65584. The
analysis shall also demonstrate local efforts to remove nongovernmentai constraints that create a gap between the
locality's planning for the development of housing for all income levels and the construction of that housing. (Gov. Code,
§ 65583. subd. (a)(6).)
Density and Timing: The element is not revised to address this
Section 3.B. Local
Narrative added
finding. Please refer to HCD's October 12. 2421, review to meet this
Processing and Permit
to Pg 3-41,
statutory requirement.
Procedures - Conditional
Use Permits has been
following Table
3-13
The element must include analysis of the length of time between receiving
approval for a housing development and submittal of an application for
revised to address this
building permits that potentially hinder the construction of the jurisdiction's
comment
shore of the regional housing need.
B. Housing Programs
1. Include a program which sets forth a schedule of actions during the planning period, each with a timeline for
implementation, which may recognize that certain programs are ongoing; such that there will be beneficial impacts of
the programs within the planning period, that the local government is undertaking or intends to undertake to implement
the policies and achieve the goals and objectives of the Housing Element through the administration of land use and
City of Newport Beach HCD Review Matrix —January 14, 2022 Letter Page 10
18-51
Revised
Document
Section
HCD Comments
Response
Reference
development controls, the provision of regulatory concessions and incentives, and the utilization of appropriate federal
and state financing and subsidy programs when available. The program shall include an identification of the agencies
and officials responsible for the implementation of the various actions. (Gov. Code, § 65583, subd. (c).)
The element is not revised to address this finding. Please refer to
HCD's October 12, 2021. review to meet this statutory requirement
To address the program requirements of Government Code section
Changes made to timelines
See Section 4
65583, subdivision (c)(1-6), and to facilitate implementation,
and objectives in Policy 1J,
Policy Actions,
programs should include: (1) a description of the City's specific role in
2C. 313, 4A, 6F. 7A, and 713
implementation: (2) definitive implementation timelines; (3) objectives.
quantified where appropriate: and (4) identification of responsible
agencies and officials. For example, Policy Action 1J (ADU Amnesty
Program) should be revised to include a quantified objective for the
number of households expected to utilize the program.
Please note that several programs involve taking action to comply
with state law, and as such should include timelines that ensure a
beneficial impact by committing to compliance within the first year of
the planning period. Programs with actions that require an
accelerated timeframe include Policy Action 3B (SB 35 Streamlining)
and Policy Action 7A (Supportive Housing 7 Low Barrier Navigation
Centers .
2. Identify actions that will be taken to make sites available during the planning period with appropriate zoning and
development standards and with services and facilities to accommodate that portion of the city's at, county's share of the
regional housing need for each income level that could not be accommodated on sites identified in the inventory
completed Pursuant to paragraph (3) of subdivision (a) without rezoning. and to comply 4vith the requirements of
City of Newport Beach HCD Review Matrix — January 14, 2022 Letter
Page 11
18-52
Revised
Document
Section
HCD Comments
Response
Reference
Government Code section 65584.09. Sires shall be identified as needed to facilitate and encourage the development -'of
a variety of types of housing for all income levels, including multifamily rental housing, factory -built housing,
mobilehomes. housing for agricultural employees, supportive housing, single -room occupancy units, emergency
shelters, and transitional housing.
(Gov_ Code, § 65583 subd. (c)(1).)
As noted in Finding A2, the element does not include a complete site
Findings from the Section 3
See Section4
analysis; therefore, the adequacy of sites and zoning was not
and Appendix B analysis
Policy Actions.
established. Based on the results of a complete sites inventory and
are summarized in Section
analysis, the City may need to add or revise programs to address a
4 policy actions. as
shortfall of sites or zoning available to encourage a variety of housing
appropriate.
types. In addition, the element should be revised as follows,
Zoning to Accommodate a Shortfall of Sites for Lowerdncome: The
This requirement was
already included in prior
See Pages 4-4
; to 4-10.
element is revised to detail the necessary actions pursuant to City
Charter 423. However. the element is not revised to address HCD's
draft Policy 1A. City has
finding regarding the by -right provisions for rezones found in
repeated that requirement
Government Code 65583.2, subdivisions (h) & (i). Please refer to
for all rezones identified in
HCD`s October 12. 2021. review to meet this statutory requirement.
the Policy Program.
Zoning to Accommodate a Shortfall of Site for Lower: Pursuant to
f This requirement was
See Pages 4-4
Government Code 65583.2. subdvisions (h) & (i), Policy Actions 1A-1 F,
already included in prior
to 4-10.
which rezone sites to accommodate the City's shortfall in satisfying the
draft Policy 1A. City has
RHNA, must commit to the following:
repeated that requirement
• permit owner -occupied and rental multifamily uses by -right for
for ail rezones identified in
developments in which 20 percent or more of the units are affordable to
the Policy Program.
lower -income households. By -right means local government review must
not require a CUP. planned unit development permit, or other
discretionary review or approval.
• accommodate a minimum of 16 units per site;
City of Newport Beach HCD Review Matrix — January 14, 2022 Letter
Page 12
18-53
HCD Comments
• require a minimum density of 20 units per acre: and
• at least 50 percent of the lower -income need must be accommodated
on sites designated for residential use only or on sites zoned for mixed
uses that accommodate all of the very low and low-income housing
need. if those sites: allow 100 percent residential use, and
require residential use occupy 50 percent of the total floor area of a
mixed -use project.
Sites Identified in Prior Planning Periods: The element is not revised
to address this finding. Please refer to HCD's October 12. 2021.
review to meet this statutory requirement.
Sites Identified in Prior Planning Periods: The element includes Policy
Action 1 G (5th Cycle Housing Element Sites), which addresses the
requirement for nonvacant sites identified in a prior planning period to
permit residential uses by -right for developments in which 20 percent
of units are affordable to lower -income households. This program
must also commit to zoning those sites to allow Newport Beach's
default density of 30 du/ac, pursuant to Government Code 65583 2,
subdivision(c) or at densities demonstrated to be appropriate for the
development of housing for louver -income households. Additionally if
any vacant sites in the inventory are being used to accommodate the
lower RHNA and have been identified in two prior planning periods.
the program must ensure that those sites meet the same
requirements.
Accessory Dwelling Unit (ADU) Monitoring: Policy Action 11 is added
to commit the City to ADU monitoring by income category. However,
this program only commits the City to considering additional actions if
not meeting the RHNA targets for ADUs identified in the element. The
City of Newport Beach
Response
See additional edits to
Policy Action 1 G that
address Government Code
Requirements.
Policy 11 has been
amended to eliminate the
word "consider" and commit
to identifying alternative
HCD Review Matrix —January 14, 2022 letter
Revised
Document
Section
Reference
See Pages 4-9
and 4-10.
See Pages 4-10
and 4-11.
Page 13
18-54
Revised
Document
Section
HCD Comments
Response
Reference
element should be revised to commit the City to implementing '
means to accommodate
specified additional actions by a date certain if not meeting RHNA
unmet RHNA needs should
targets.
ADU construction falls short
of assumptions.
3. Address and, where appropriate and legally possible: remove governmental and nongovernmental constraints to the
maintenance. improvement. and development of housing, including housing for all income levels and housing for
persons with disabilities, The program shall remove constraints to, and provide reasonable accommodations for housing
designed for intended for occupancy by, or with supportive services for, persons with disabilities r Gov. Code. § 65563.
subd. c)(3). i
As noted in Findings A3 and A4,. the element requires a complete
Information about permit
Section 3.A-B
analysis of potential governmental and nongovernmental constraints.
processing, permitted
Example: Page
Depending upon the results of that analysis, the City may need to
housing types, and
3-33
revise or add programs and address and remove or mitigate any
reasonable accommodation
(Reasonable
identified constraints_
have been added to the
Accommodation)
Element. An analysis for
each section has been
provided in order to address
possible constraints and
solutions to sed constraints
in the section.
4. Promote and affirmatively further fair housing opportunities and promote housing throughout the community or
communities for all persons regardless of race, religion, sex, marital status, ancestry, national origin. color; familial
status, or disability, and other characteristics protected by the California Fair Employment and Housing Act (Part 2. 8
(commencing with Section 12900) of Division 3 of Title 2), Section 65008. and any other state and federal fair housing
and planning law. Gov. Code, § 65583, subd. c 5 .
As noted in Finding A1, the element does not contain programs that
Refer to updated Policy 4A.
Starting on Page
satisfy the AFFH requirements for specific and meaningful actions to
4-19.
City of Newport Beach HCD Review Matrix —January 14, 2022 Letter Page 14
18-55
Revised
Document
Section
HCD Comments
Response
Reference
overcome fair housing issues. Based on a complete analysis, the
element must add or revise programs.
5_ The housing program shall preserve for low-income household the
The City has augmented
See Page 4-13.
assisted housing developments identified pursuant to paragraph (9)
Policy Action 2C.
of subdivision (a). The program for preservation of the assisted
housing developments shall utilize, to the extent necessary, all
available federal, state, and local financing and subsidy programs
identified in paragraph (9) of subdivision (a), except where a
community has other urgent needs for which alternative funding
sources are not available. The program may include strategies that
involve local regulation and technical assistance. (Gov. Code. §
65583. subd- (c)(6).)
The element is not revised to address this finding. Please refer to
HCD's October 12, 2021, review to meet this statutory requirement.
The element includes Policy Action 2C (Preservation of At -risk Units).
The element identifies 19 units at -risk of converting to market -rate uses
in the planning period_ Therefore.. the element must include a programs)
with specific and proactive actions to preserve the at -risk units such as
developing a plan or strategy for quickly moving forward in the case units
are noticed to convert to market -rate uses in the planning period, and
ensure tenants receive proper notifications.
C. Public Participation
Local governments shall make a diligent effort to achieve public participation of all economic segments of the
community in the development of the Housing Element, and the element shall describe this effort. (Gov. Code, § 65583:
subd. c 8).
While the element profiles the strategies undertaken to achieve public
The breadth of the City's See amended
participation, it must also describe how the City reached all economic
public participation process I text in Appendix
City of Newport Beach HCD Review Matrix — January 14, 2022 Letter Page 15
18-56
HCD Comments
Response
Revised
Document
Section
Reference
segments of the population in conducting outreach related to its
are laid out in Appendix C.
C. Page C-5 for
survey and workshops. particularly lower -income households. The
To highlight a few, the City
detailed
revised element still does not clarify whether and how any
provided notice in the Daily
description
nongovernmental organizations and other parties were notified: the
Pilot of all meetings.
element should be revised to include a list of organizations contacted
Meeting notices specified
for purposes of public involvement. Public participation in the
that language translation
development, adoption and implementation of the housing element is
was available. Additional
essential to effective housing planning. Throughout the housing
local housing advocates
element process, the City should continue to engage the community,
including the Kennedy
including organizations that represent lower -income and special
Commission and YIMBY
needs households, by making information regularly available and
Law participated in the
considering and incorporating comments where appropriate.
Housing Element
workshops.
City of Newport Beach
HCD Review Matrix —January 14, 2022 Letter
Page 16
18-57
EXHIBIT D
18-58
City of Newport Beach
HCD Comments
April 11, 2022 Letter
Revisions Made to Address
HCD Comments
Revised
Document
Section
Reference
1. Affirmatively furtherfing] fair housing in accordance with Chapter 15 (commencing with Section 8899. 50) of Division 1
of Title 2... shall include an assessment of fair housing in the jurisdiction. (Gov. Code, § 65583, subd. (c)(10)(A).)
Promote and affirmatively further fair housing opportunities and promote housing throughout the community or
communities for all persons regardless of race, religion, sex, marital status; ancestry,y, national origin, color, familial
status: or disability and other... (Gov. Code, § 65583, subd (c)(5).)
Local Data and Knowledge: The element is revised to include a
brief description of the City's history and several data points drawn
from the American Community Survey (ACS) (p. 3-62). Data and
knowledge drawn from the ACS and other similar sources from the
federal or state level are not adequate to meet this requirement_
The element must support its Affirmatively Furthering Fair Housing
(AFFH) analysis with data and knowledge sourced at the local
level, including but not limited to information obtained through
community engagement.
Based on our July 28, 2022, Call with HCD staff, the City's
June 21, 2022. revisions mostly address the comment;
however. there needed to be a clearer connection between
this Section and the Policy Program in Section 4.
City of Newport Beach
Please reference the narrative
beginning on Page 3-63.
Additional information has
been added on Pages 3-64
and 3-65.
The expanded narrative
elaborates on trends and
issues that were identified
during the City`s community
outreach and incorporates
information from the City's
Code Enforcement Division
and Recreation and Senior
Services Department.
The CitV provided additional
revisions to this narrative to
create a clear reference to
Section 4, specifically Polic}r
Action 4A related to AFFH.
HCD Review Matrix — April 11, 2022 Letter — Mid -Review Revisions
Section 3
Page 3-63
Please see
highlighted
excerpts in
Section 3.
Page 1
18-59
City of Newport Beach
HCD Comments
April 11, 2022 Letter
Site Inventory: The element is revised to state that the site
inventory's `concentrations of low and very low-income sites
located in the northern; western, and central areas of the City
would not exacerbate the current conditions in these areas;' and
includes some descriptions of how the inventory is related to
existing patterns and trends (p. 3-123). However, the analysis of
the site inventory raises several issues which may exacerbate fair
housing conditions, including but not limited to the following
examples. For example, the maps on pages 3-120 and 3-122 seem
to indicate that the concentrations of lower -income RHNA sites are
located in areas with high lower -income populations and high
percentages of minority populations; the element does not describe
the impact of these concentrations. Furthermore, the element notes
that the Airport Environs Area, which appears to have a high
concentration of lower -income RHNA units, has a high pollution
burden. These examples demonstrate that the site inventory may
exacerbate fair housing conditions, but the element does not
commit to actions that would mitigate those exacerbated
conditions. The element should be revised to clearly describe any
isolation of RHNA and any fair housing conditions exacerbated by
the inventory, and commit to programs which mitigate those
exacerbated conditions. HCD can provide samples under separate
cover.
Based on our JuIV 28, 2022. Carl with HCD staff, the Ci 's
June 21. 2022. revisions mostly address the comment;
however, additional information was requested specifically on
the West Newport Area related to industrial rises and possible
City of Newport Beach
Revisions Made to Address
HCD Comments
Please reference the added
section header "Analysis of
Exacerbating Current
Conditions" beginning on Page
3-127.
This new section discusses
the City's site evaluation and
selection process and
provides additional contextual
information to justify the
various focus areas.
The City provided additional
revisions to include —
clarifyinq language that one
industrial operator has been
posed an issue that has
largely been addressed
through coordinated
mitigation efforts with
SCAQMD and DISC. The
City also added more
information on develo ment
trends and revitalization
efforts in both the Airport
and West Newport Areas.
Policy Actions 4J, 4K, and
HCD Review Matrix - April 11, 2022 Letter - [Aid -Review Revisions
Revised
Document
Section
Reference
Section 3
Page 3-127
Please see
highlighted
excerpts in
Section 3 and
new Policy
Actions 4J, 4K,
and 4L.
Page 2
18-60
City of Newport Beach
HCD Comments
April 11, 2022 Letter
Revised
Document
Revisions Made to Address + Section
HCD Comments 1 Reference
environmental constraints. HCD staff also requested polic 4L were added to address
actions to demonstrate the Cit 's strategy in reducinq those environmental constraints.
environmental constraints to ensure the feasibility of sites.
especialIV for lower -income RHNA.
Goals. Actions. Metrics and Milestones: Policy Action 4A
(Affirmatively Furthering Fair Housing (AFFH)) is revised to include
several additional actions. However, the element still does not
contain programs which are specific, meaningful, and
transformative. For example. the element must address the
following:
Several programs, including but not limited to the following
examples, fail to provide a specific commitment to any policy
action, instead committing to exploratory actions or broad,
high-level goals. For example, Action 3 simply commits to
exploring and implementing where feasible "policies and
procedures that combat the displacement of low-income
residents and communities of color",similarly, Action 6
commits to establishing "policies and programs supportive to
local employment opportunity (sic)" (p. 4-20). Neither of
these program actions enumerates specific or measurable
policy commitments.
• Other actions simply commit to compliance with state law
City of Newport Beach
Please see the new Table 4-1: Section 4,
Fair Housing Actions See Policy 4A
beginning on Page 4-22. Page 4-22
This new table clearly and Please see
succinctly lists the identified highlighted
issue, the local contributing excerpts in
factors, the geographic target Section 4,
area. the City's actions, priority
level, and metrics and
timeline.
The Citv provided additional
revisions to Table 4-1 under
Policy Action 4A to clarify
CitV Actions by elaboratin
where necessary. For
example, if holding —
workshops is the Citv
action. there is now a list of
expected community
develontnent outcomes frorr
HCD Review Matrix — April 11, 2022 Letter — Mid -Review Revisions
Page 3
18-61
City of Newport Beach
HCD Comments
April 11, 2022 Letter
For example, Action 1 commits to the adoption of an
Environmental Justice element as is already required of the
City. This does not meet the requirements for meaningful
and transformative AFFH actions which respond to the
City's contributing factors.
The remainder of the actions contained in Policy Action 4A,
including Actions 2, 4, 5, 7, and 8, are limited to outreach.
While HCD applauds targeted and proactive outreach
activities, these alone are not adequate to satisfy the
requirements for meaningful and transformative programs.
In addition to outreach, program actions should address fair
housing topics such as housing mobility, place -based
strategies, and anti -displacement.
Programs must also respond to the contributing factors and
identified fair housing issues. For example, the element
finds that 12 Newport Beach Census Tracts meet the
definition of Racially Concentrated Areas of Affluence
(RCAA), but it contains no program actions to address this.
The element also notes that the City has "little mobility and
fewer options in
terms of rentership' (p. 3-106), but it does not include
specific actions to increase housing mobility.
City of Newport Beach
Revisions Made to Address
HCD Comments
those worksho2s. All
actions were moved to the
appropriate "CitV Actions"
column. The "Timelines and
Metrics" column was
revised to include clear
timelines and new
evaluative metrics. The
evaluative metrics are
aspirational, but include
quantifiable outcomes that
can be used to measure
performance and to
augment future citV actions
to address the issues
necessary.
HCD Review Matrix — April 11, 2022 Letter — Mid -Review Revisions
Revised
Document
Section
Reference
Page 4
18-62
Revised
City of Newport Beach
Document
HCD Comments
Revisions Made to Address
Section
April 11, 2022 Letter
HCD Comments
Reference
AFFH program actions should provide specific policy commitments,
go beyond compliance with state law, address fair housing topics
beyond outreach, and respond to the identified contributing factors.
HCD can provide samples and other guidance under separate
cover.
In addition, AFFH program actions must include meaningful metrics
and milestones for measuring progress towards identified fair
housing goals during the planning period. Examples include, but
are not limited to, a program to incentivize voucher use in higher
opportunity areas which commits to objectives for the number of
households assisted, or a program to establish anti -displacement
policies which targets a decrease in the percentage of households
that are considered vulnerable according to the Urban
Displacement Project. HCD can provide samples under separate
cover.
Based on our July 28, _2022, Cal! with HCD staff, the City's
June 21, 2022. revisions were a step in the right direction to
address this comment: however, the Policy Action fable
lacked some detail on City actions, lacked clarity on timing,
and lacked clear evaluative metrics.
2. An inventory of laird suitable and available for residential development, including vacant sites and sites having
realistic and demonstrated potential for redevelopment daring the planning period to meet the locality's housing need for
a designated income level, and an analysis of the relationship of zoning and public facilities and services to these sites.
Gov. Code. § 65583,. subd. a) 3 _)
City of Newport Beach HCD Review Matrix —April 11, 2022 Letter —Mid -Review Revisions Page 5
18-63
City of Newport Beach
HCD Comments
April 11, 2022 Letter
Revisions Made to Address
HCD Comments
Revised
Document
Section
Reference
Identify actions that will be taken to make sites available during the planning period with appropriate zoning and
development standards and with services and facilities to accommodate that portion of the city's or county's share of the
regional housing need for each income level that could not be accommodated on sites identified in the inventory
completed pursuant to paragraph (3) of subdivision (a) without rezoning, and to comply with the requirements of
Government Code section 65584.09. (Gov. Code, § 65583, subd. (c)(1).)
Realistic Capacity: The element must still account for the likelihood
of 100 percent nonresidential development in mixed -use zones.
The analysis should describe whether 100 percent nonresidential.
uses are allowed in these zones and any relevant programs or
policies the City is undertaking to facilitate residential development
in nonresidential zones. For example, based on our conversation
and on the sample projects in the Appendix, HCD understands that
the City has seen limited commercial development and may also
grant relief from certain commercial requirements. The element
should be revised to include this information and relate
development trends in zones allowing 100 percent non-residential
uses to the inventory's residential capacity assumptions. Based on
the outcomes of this analysis, the element: must add or modify
programs as appropriate.
Based on our JuJV 28, 2022 Call with HCD staff, the Cit 's
June 21, 2022. revisions made to the document adequately
address this comment.
City of Newport Beach
Please reference the added Appendix B,
section header "Evidence Page B-22
Supporting Residential
Development in Mixed -Use
Zones" beginning on Page B-
22.
This additional narrative
describes the City's rationale
for including mixed -use zoned
properties as housing
opportunity sites and further
details previous projects that
substantiate the approach.
No further changes made
from June 21, 2022, version.
HCD Review Matrix —April 11, 2022 letter — Mid -Review Revisions
Page 6
18-64
Revised
City of Newport Beach Document
HCD Comments Revisions Made to Address Section
April 11, 2022 Letter HCD Comments Reference
3. An analysis of potential and actual governmental constraints upon the maintenance, improvement. or development of
housing for all income levels, including the types of housing identified in paragraph (1) of subdivision (c), and for
persons with disabilities as identified in the analysis pursuant to paragraph (7), including land use controls, building
codes and their enforcement, site improvements, fees and other exactions required of developers, and local processing
and permit procedures. The analysis shall also demonstrate local efforts to remove governmental constraints that hinder
the locality from meeting its share of the regional housing need in accordance with Government Code section 65584
and from meeting the need for housing for persons with disabilities, supportive housing; transitional housing, and
emergency shelters identified pursuant to paragraph (7). Transitional housing and supportive housing shall be
considered a residential use of property; and shall be subject only to those restrictions that apply to other residential
dwellings of the same type in the same zone. (Gov. Code, § 65583, subd. (a)(5).)
Address and, where appropriate and legally possible, remove governmental and nongovernmental constraints to the
maintenance; improvement and development of housing,, including housing for all income levels and housing for
persons with disabilities_ The program shall remove constraints to; and provide reasonable accommodations for housing
designed for.. intended for occupancy by: or with supportive services for, persons with disabilities. (Gov. Code, § 65583,
subd. (c)(3).)
Housing for Persons with Disabilities: The element is revised to
expand its discussion of the City's Conditional Use Permit (CUP)
process (p. 3-42), and to include Policy Action 3-P which commits
to reviewing applicable regulations and amending if necessary (p.
4-17). These revisions do not analyze whether the CUP is a
constraint specifically for residential care facilities and on housing
for persons with disabilities. In particular, the revised element does
not address the fact that the City's Municipal Code Section
20.52.030.H.4 requires residential care facilities to be compatible
with neighborhood character and specifically provides guidance on
City of Newport Beach
Please reference the revised
Section 3
constraints analysis starting on
Page 3-41
Page 3-41. Please also
reference the revised Policy
Section 4, Policy
Action 3P on Page 4-17.
Action 3P
Page 4-17
The additional narrative
specifically discusses the
Conditional Use Permit
requirement for residential
HCD Review Matrix — April 11, 2022 Letter — Mid -Review Revisions
Page 7
18-65
City of Newport Beach
HCD Comments
April 11, 2022 Letter
limiting them. This requirement subjects housing for persons with
disabilities to higher discretionary standards where an applicant
must demonstrate compatibility with the surrounding neighborhood,
unlike other residential uses. HCD noted in its prior reviews that
such standards would be deemed a constraint, and the element
does not make mention of these provisions or demonstrate
otherwise. HCD considers the "neighborhood character"
requirement a constraint and Policy Action 3-P must be revised to
commit specifically to removing this constraint.
Based on our JuIV 28, 2022 Call with HCD staff the Cit 's
June 21, 2022, revisions made to the document adequateltr
address this comment.
City of Newport Beach
Revisions Made to Address
HCD Comments
care facilities for i or more
persons.
Policy Action 3P has been
updated consistent with the
agreed upon approach from
the City's virtual meeting held
with HCD staff on June 1,
2022
No further changes made
from Jane 21. 2022. version.
HCD Review Matrix — April 11, 2022 Letter —Mid -Review Revisions
Revised
Document
Section
Reference
Page 8
EXHIBIT E
18-67
STATE OF CALIFORN[A - BUSINESS. CONSUMER SEBVI[ FS Aria HO�J51M11G_pGENCY GAVIN NEWSOM, Gnvemor
DEPARTMENT DE HOUSING AND COMMUNITY DEVELOPMENT
DIVISION OF HOUSING POLICY DEVELOPMENT _
2020 W. EI Camino Avenue. Suite 506 a "Oro
Sacramento.
Sacramento, CA 95833
(916) 263-2911 1 FAX (916) 263.7453
www nW.ca.gov
August 24, 2022
Seimone Jurjis, Director
Community Development Department
City of Newport Beach
100 Civic Center Drive
Newport Beach, CA 92660
Dear 5eimone Jurjis;
RE: City of Newport Beach's V Cycle (2021-2029) Draft Housing Element
Thank you for submitting the City of Newport Beach's (City) draft housing element
update received for review on June 28, 2022, along with revisions received on
August 16, 2022. Pursuant to Government Code section 65585, subdivision (b), the
California Department of Housing and Community Development (HCD) is reporting the
results of its review. Our review was facilitated by conversations on July 28 and
August 3. 2022 with Jim Campbell, Deputy Community Development Director, and
Ben Zdeba, Senior Planner. In addition, HCD considered comments from the Kennedy
Commission pursuant to Government Code section 65585, subdivision (c).
The revised draft element meets the statutory requirements described in HCD's
April 11, 2022, review. This finding was based on, among other reasons, a robust suite
of programs that will affirmatively further fair housing (AFFH) and the removal of
governmental constraints. The housing element will comply with State Housing Element
Law (Article 10.6 of the Gov. Code) when it is adopted, submitted to and approved by
HCD, in accordance with Government Code section 65585.
The element now identifies adequate sites to accommodate the City's regional housing
need for lower -income households demonstrated by Policy Actions 1A through 1 G. This
program commits to rezone at least 436 acres by October 2024, permit multifamily uses
without discretionary action and require a minimum density of 20 units per acre to
address the identified shortfall of 2,707 units.
For your information, pursuant to Senate Bill 197 (Chapter 70, Statutes of 2022), as the
City did not adopt a compliant housing element within 120 days of the statutory deadline
(October 15, 2021), the City's adopted element must be found in compliance by
October 15, 2022 to maintain its scheduled rezone deadline of October 2024 (Policy
Seimone Jurjis, Director
Page 2
Actions 1A-1 G). If the element is not found in compliance by October 15, 2022, HCD
cannot find the element in compliance until the rezoning is complete.
Public participation in the development, adoption and implementation of the housing
element is essential to effective housing planning. Throughout the housing element
process, the City must continue to engage the community, including organizations that
represent lower -income and special needs households. by making information regularly
available while considering and incorporating comments where appropriate.
Several federal, state, and regional funding programs consider housing element
compliance as an eligibility or ranking criteria. For example, the CalTrans Senate Bill
(S13) 9 Sustainable Communities grant; the Strategic Growth Council and HCD's
Affordable Housing and Sustainable Communities programs; and HCD's Permanent
Local Housing Allocation consider housing element compliance and/or annual reporting
requirements pursuant to Government Code section 65400, With a compliant housing
element, the City will meet housing element requirements for these and other funding
sources.
For your information, some general plan element updates are triggered by housing
element adoption. HC❑ reminds the City to consider timing provisions and welcomes
the opportunity to provide assistance. For information, please see the Technical
Advisories issued by the Governor's Office of Planning and Research at-
https /_/www.opr.ca.g_ov/planning/general-plan/guidelines.html.
HC❑ appreciates the City's hard work and dedication in preparation of the housing
element and looks forward to receiving the City's adopted housing element. if you have
any questions or need additional technical assistance, please contact Colin Cross, of
our staff, at colin.cross(a-),hcd.ca.gov.
Sincerely,
Paul McDougall
Senior Program Manager
18-69
EXHIBIT F
18-70
HOUSING ELEMENT UPDATE ADVISORY COMMITTEE MEMBERS
Name
Professional Experience
Larry Tucker, Chair
Real Estate Development, Real Estate Financing &
Attorney
,Jeff Bloom
Real Estate Financing Specializing in Affordable
Housing
Susan ❑eSantis
Former Director of California Department of Housing
and Community Development & Planning Professional
Paul Fruchbom
Affordable Housing Developer
Beth Kiley
Real Estate Appraiser
Geoffrey LePlastrier
Licensed Architect
Stephen Sandland
Licensed Architect
Debbie Stevens
Professional Planner & CEQA Practitioner
Michelle Thrakulchavee
Real Estate Development & Financing
18-71
STATE OF CALIFORNIA
COUNTY OF ORANGE ss.
CITY OF NEWPORT BEACH
I, Leilani I. Brown, City Clerk of the City of Newport Beach, California, do hereby certify that the
whole number of members of the City Council is seven; the foregoing resolution, being Resolution
No. 2022-60 was duly introduced before and adopted by the City Council of said City at a regular meeting
of said Council held on the 131h day of September, 2022; and the same was so passed and adopted by
the following vote, to wit:
AYES: Mayor Kevin Muldoon, Mayor Pro Tern Noah Blom, Council Member Brad Avery, Council
Member Joy Brenner, Council Member Diane Dixon, Council Member Duffy Duffield,
Council Member Will O'Neill
NAYS: None
IN WITNESS WHEREOF, I have hereunto subscribed my name and affixed the official seal of
said City this 141h day of September, 2022.
Leilani I. Brown
City Clerk
Newport Beach, California