HomeMy WebLinkAboutMarinapark Resort (PA2003-218)CITY OF NEWPORT BEACH
PLANNING COMMISSION STAFF REPORT
Agenda Item No. 4
June 3, 2004
TO: HONORABLE CHAIRMAN AND
MEMBERS OF THE PLANNING COMMISSION
FROM: James Campbell, Senior Planner
SUBJECT: Marinapark Resort and Community Plan and Draft Environmental
Impact Report (PA 2003 -218)
APPLICANT: Marinapark LLC (Formerly Sutherland Talla Hospitality)
RECOMMENDATION
Review the proposed project and DEIR, receive public comments, and provide
direction on issues to be addressed for the public hearing on July 8, 2004.
DISCUSSION
Background
Under terms of the agreement between the City of Newport Beach and
Sutherland Talla Hospitality (now Marinapark LLC), the City is required -to hold
one Planning Commission public hearing and one City Council public hearing on
the project EIR. Pursuant to the agreement, the Planning Commission will
recommend to the City Council whether or not the EIR should be certified, but will
not recommend whether to approve or disapprove the project. The City Council
is to certify the EIR, if appropriate, and schedule the election on the General Plan
amendment, but will not approve or disapprove the project. In making its
decision on the details of the ballot measure, the City Council will have the ability
to make some changes to the General Plan amendment request submitted by
Marinapark LLC. Therefore, it would be appropriate for the Planning
Commission to recommend changes to the General Plan amendment request, if
the Commission believes changes would improve the project or reduce
environmental impacts.
Marinapark Resort and Community Plan
Planning Commission Staff Report
June 3, 2004
Page 2 of 8
The Study Session is intended to give the Planning Commission and the public
the opportunity to understand the project proposal, to begin reviewing the
potential environmental impacts of the project, and to identify issues that need to
be addressed for the Planning Commission's public hearing on the Final EIR on
July 8, 2004.
Project Description
The Marinapark Resort Hotel and Community Plan is proposed on property
currently occupied by the Marinapark Mobile Home Park, Las Arenas Park,
Balboa Community Center, the Neva B. Thomas Girl Scout House, four public
tennis courts, one -half basketball court, a children's play area, and a metered
parking lot on an 8.1 -acre site on Balboa Blvd. between 15th and 18th Streets.
The project applicant, Marinapark LLC, proposes to remove and/or demolish
existing structures on the property and build a 110 -room luxury resort hotel that
will include a lobby and registration area, a cafe, a restaurant, a bar, a ballroom,
a swimming pool, separate spa and administration buildings, 12 boat slips and a
subterranean parking garage. The following public facilities would be included in
the project: surface parking lot, four tennis courts, a new two -story Community
Center and Girl Scout facility, and a tot lot.
EIR Certification Process
A Draft Environmental Impact Report (DEIR) has been prepared for the project
and circulated for public comment on April 26, 2004. The DEIR was transmitted
to the Commission previously. As required by the California Environmental
Quality Act, the review period is 45 days and will end on June 9, 2004. During
this time, affected government agencies and the public may submit written
comments on the Draft EIR. To date, the City of Newport Beach Environmental
Quality Affairs Citizens Advisory Committee and the Southern California
Association of Governments have provided written comments on the Draft EIR
(Attachment A). At the end of the Draft EIR circulation period on June 9th, written
comments received and written responses to these comments will be included
with the Draft EIR document in the form of the Final EIR for the project. On July
8, 2004, the Planning Commission will hold a public hearing and make its
recommendation to the City Council as to whether or not to certify the Final EIR.
The City Council will hold public hearings and consider the Planning Commission
recommendation on the Final EIR on July 13, 2004 and on July 27, 2004. On
July 27th, the City Council may certify the Final EIR if it determines that, after
reviewing the document, the EIR was completed in compliance with CEQA and
reflects the City Council's independent judgment and analysis.
Marinapark Resort and Community Plan
Planning Commission Staff Report
June 3, 2004
Page 3 of 8
Draft EIR Summary:
The Marinapark Resort and Community Plan Draft EIR identifies the range of
potential environmental impacts that could result from construction and operation
of the proposed project. The range of impacts analyzed in the DEIR was based
on an Initial Study (included in the DEIR) that concluded that no further analysis
was needed for environmental issues related to agricultural resources, cultural
resources, hazards and hazardous materials, mineral resources, population and
housing, and recreation.
The DEIR includes a description and analysis, by subject area (Land Use,
Biological Resources, Air Quality, Traffic, etc.), of each impact determined to be
potentially significant. Based on this analysis, a level of significance is assigned
to each potential impact: "No Impact," "Less than Significant," or "Significant."
Mitigation measures are identified for "significant" impacts. A level of significance
is again assigned to each potential impact according to the extent that proposed
mitigation measures may reduce the severity of the impact. Alternatives to the
project that may result in lesser impacts on the environment than the proposed
project are also evaluated in the Draft EIR.
As shown in the "Executive Summary" (Page 2 -1) of the DEIR, the analysis
concludes that, with implementation of recommended mitigation measures, no
significant impacts to the environment would result from construction and
operation of the proposed project. Potential environmental effects of the
proposed project which can be mitigated so that no significant impacts result are
indicated below.
Impact
Geology and Soils
Liquefaction of soils during an
earthquake
Hydrology and Water Quality
Degradation of water quality
Mitigation Measure
Building design and construction
incorporating structural components that
resist soil collapse
Preparation and implementation of a
Stormwater Pollution Prevention Plan and
Water Quality Management Plan
incorporating best management practices
Marinapark Resort and Community Plan
Planning Commission Staff Report
June 3, 2004
Page 4 of 8
Impact Mitigation Measure
Overload storm drain system Construction of on -site detention basins
Biological Resources
Cement walkway results in loss of Development of shorebird foraging
shoreline habitat for shorebirds habitat replacement site
Disruption of benthic resources
through loss of soft bottom
habitat
Long -term impacts to fish
resources through loss of soft
bottom foraging habitat
Disruption of California least tern
and California brown pelican
foraging behavior through site
grading and bay dredging and
construction noise
Periodic loss of eelgrass through
maintenance dredging
Loss of halibut nursery habitat
Construction, vessel movement,
and increased turbidity levels
could affect Eelgrass Restoration
Project
Bulkhead and support pilings for
boat slips will result in long-term
loss of sand beach and soft
bottom habitat
Development of benthic habitat
replacement site and revision of slip plans
to include elevated walkway from beach
to slips
Development of benthic habitat
replacement site
Stormwater Pollution Prevent Plan
including Best Management Practices
Development of a plan for restoration of
eelgrass habitat pursuant to Southern
California Eelgrass Mitigation Policy.
Development of a benthic habitat
replacement site and preparation and
implementation of a Stormwater Pollution
Prevention Plan and Water Quality
Management Plan incorporating best
management practices
Preparation and implementation of a
Stormwater Pollution Prevention Plan and
Water Quality Management Plan
incorporating best management practices
Development of benthic habitat
replacement site and revision of slip plans
to include elevated walkway from beach
to slips and development of a benthic
habitat and shorebird foraging habitat
replacement site
Impact
Air Qualit
Dust resulting from construction
activities
Exceed thresholds for Reactive
Organic Gases through use of
paint and other coatings in
construction phase
Marinapark Resort and Community Plan
Planning Commission Staff Report
June 3, 2004
Page 5 of 8
Mitigation Measure
Compliance with Air Quality Management
District Rule 403 and adopt and
implement a construction traffic
management plan
Use pre- coated materials, high pressure
low- volume paint applicators with 50%
efficiency, lower volatility paint
The Executive Summary of the DEIR also includes environmental components
that would not be adversely affected by project development and operation as
shown below.
Land Use:
Project development is consistent with General Plan Policies and the Harbor and Bay
Element and the Newport Beach Municipal Code and with the Local Coastal Program
Land Use Plan policies on public access, views, parking, dock facilities, public
restrooms and historic resource inventory; project complies with Zoning Code for
Community Plans; project is compatible with nearby land uses and maintains public
beach access and replaces existing recreation facilities; structures nearest the Bay will
be one -story and structures adjacent to 15th and le Streets will be similar in scale to
nearby buildings;
Transportation:
The project will generate a net increase of 520 average daily trips during the
"shoulder' e.g. fall and spring season which, compared to existing traffic, does not
represent a significant impact. The project would generate a net increase of 360
average daily trips during the summer season which, compared to existing traffic,
does not represent a significant impact;
Noise:
The project is consistent with the City's performance standards for locating land uses
in noisy environments; restriction of construction hours would reduce adverse effect of
equipment noise to less than significant level; noise modeling indicates no increase in
traffic - related noise levels;
Aesthetics:
Marinapark Resort and Community Plan
Planning Commission Staff Report
June 3, 2004
Page 6 of 8
The architectural features of buildings included with the project are consistent in size
and scale with existing development and existing views to the bay from public rights -
of-way will be substantially maintained;
Public Services and Utilities:
Existing public facilities and resources for police and fire protection were deemed
adequate to serve the project based on interviews with the respective department
representatives; facilities and infrastructure for solid waste disposal, water service,
wastewater service, natural gas, and electricity were all deemed adequate for the
needs of the project based on information from the respective service providers.
Alternatives to the Marinapark Resort project are analyzed in the DEIR and their
potential impacts are compared with those of the proposed project. Any of the
alternatives may be determined to be environmentally superior if, overall, the
magnitude of impacts is less than that of the proposed project. Each alternative,
however, must also be evaluated in light of the project objectives identified by the
applicant and City of Newport Beach and set forth in the DEIR as follows:
• Complement efforts to revitalize Balboa Village and enhance other
commercial areas on the Peninsula;
• Redevelop the site with land uses that are consistent with, and permitted
by, the legal restrictions on the use of tidelands;
• Reduce the current and anticipated future deficit between t6ideland
revenue and tideland expenditures;
• Provide additional general fund revenue that will help the City maintain or
enhance the high level of public safety and municipal services provided to
Newport Beach residents;
• Enhance public access and community faci8lities on the site without any
expenditure of tax revenue and without any fiscal impact on the Girl
Scouts and other users;
• Ensure that site redevelopment does not generate noise, glare or traffic
that could adversely impact the residents in the vicinity or the American
Legion adjacent to the site;
• Provide for additional marine - related facilities that can be used by coastal
visitors for sailing and boating.
Marinapark Resort and Community Plan
Planning Commission Staff Report
June 3, 2004
Page 7 of 8
Alternatives analyzed in the DEIR, the magnitude of overall impact compared
with the project, and the extent to which each meets project objectives identified
above are as follow:
"No Proiect/No Development Alternative"
This alternative assumes that existing mobile homes and recreational
facilities remain.
No additional environmental impacts would result but this alternative
would not meet project objectives for area revitalization, consistency with
tidelands restrictions, reduction of tidelands deficit, generation of
additional revenue, or provision of additional marine - related facilities.
"Marinapark Marine Recreation Alternative"
This alternative assumes removal of the mobile homes and development
of new recreational facilities including 2 charter boat moorings, 20 boat
slips, boat launch area, parkland, a Girl Scout/Community Center building,
tennis /basketball courts, beach and boat slip parking area.
This alternative would result in lesser impacts to geology and soils,
aesthetics, and public services and utilities as compared with the
proposed project. Impacts associated with land use and planning would
be similar to those of the project. Impacts associated with hydrology and
water quality, geological resources, transportation, air quality, and noise
would be greater as compared with the proposed project.
The Marine Recreation Alternative would meet project objectives related
to area revitalization, consistency with tidelands restrictions, and provision
of additional marine - related facilities. This alternative, however, may not
reduce the tidelands revenue deficit and may not generate additional
general fund revenue or enhance public access without an expenditure of
tax revenue.
"Reduced Intensity Alternative"
This alternative assumes development of an 80 -room luxury resort hotel, a
4,500 square -foot restaurant, and 12 boat slips.
This alternative would result in lesser impacts to geology and soils and to
aesthetics as compared with the proposed project. Impacts associated
with traffic, air quality, noise, and public services and utilities would be
greater for this alternative than for the proposed project. Similar impacts
Marinapark Resort and Community Plan
Planning Commission Staff Report
June 3, 2004
Page 8 of 8
would be incurred for hydrology and water quality, geological resources,
and land use and planning.
Based on consideration of the relative impacts of each alternative compared with
the proposed project, and on the extent to which each alternative and the
proposed project satisfy the objectives set forth by the City of Newport Beach for
redevelopment of the proposed project site, the proposed Marinapark Resort and
Community Plan is deemed to be the Environmentally Superior Alternative
consistent with guidelines set forth in CEQA.
CONCLUSION
The Study Session will allow members of the Planning Commission and the
public to better understand the proposed project and to evaluate the basis for
conclusions about potential environmental impacts set forth in the Draft EIR for
the Marinapark Resort and Community Plan. The Study Session will prepare
Planning Commissioners for the public hearing on the Final EIR on July 8, 2004,
and for the ensuing recommendation to City Council on the Final EIR. Staff
hopes for an extensive dialog where as many issues as possible can be
highlighted so as to better prepare for the hearing scheduled for July 8, 2004.
Prepared by:
mes W. Campb II, Senior Planner
Attachments
Submitted by:
,
atricia L. Tempe, Planning Director
1. Correspondence
2. Project conceptual plans — separate large format drawings
tenaally Blank
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SOUTHERN CALIFORNIA
ASSOCIATION of
GOVERNMENTS
Main Office
818 West Seventh Street
12th Floor
Los Angeles, California
900173435
t (213) 236 -a800
f (213) 236 -1825
wwwscag.ca.gov
OBiurs: President: Coundlmember Ron Roberts,
Temecula • First Vice problem: Supervisor Hank
Kidder. Imperial County • second Vice President:
Mayor Toni Young, Pon Hueneme • Immediate
Past President Councilmember Bev Peery, Brea
Imperial County: Hank Kuiper, Imperial County
Jo Shields, Brawley
Los Angeles Caunty: Yvonne erathuaile Burke,
NsAngeles County • Zel Yanodi sky, Los Angeles
County • Harry Baldwin, San Gabriel • Paul
Bawleq Cerritos • Tony Cardenas, Los Angeles -
Margaret Clark, Rosemead • Gene Daniels,
Paramount • Mike Dispenza, Palmdale • Judy
Dunlap, Inglewood • For GarceRi, Los Angeles -
Wendy Greuel, Los Angeles • Frank Gurule,
Cudahy • lames Hahn, Los Angeles • Janice Hahn,
Los Angeles • Isadore Hall, Compton • Tom
IaBOnge, bus Angeles • Bonnie Lowenthal, Long
Beach • Marlin. ludlow, Las Angeles • Keith
Cindy Misdimueski, Los Angeles • Paul No
Torrance • Pam O'Connor, Santa Monica
Padilla, Los Angeles • Bernard Parks, LusA
Jan Pena, ids Angeles • Beatrice Prw, Pico
Ed Reyes, Los Angeles • Greig Smth Las A
Dick Stanford, Azusa • Tom Sykes, Walnut
Talbot, Alhambra • Sidney Tyler, Pasadena
Reyes Dnni Long Beach • Antonio Allay.
May 19, 2004
Mr. James Campbell
Senior Planner
Newport Beach Planning Department
3300 Newport Boulevard
Newport Beach, CA 92658 -8915
RE: SCAG Clearinghouse No.
Community Plan
Dear Mr. Campbell:
RECEIVED BY
PLANNING DEPARTMENT
CITY OF NEWPORT BEACH
MAY 2 6 2004 PM
71819110111 12111213141516
1 20040258 Marnapark Resort &
Thank you for submitting the Marinapark . Resort & Community Plan for
review and comment. As areawide clearinghouse for regionally significant
projects, SCAG reviews the consistency of local plans, projects and programs
with regional plans. This activity is based on SCAG's responsibilities as a
regional planning organization pursuant to state and federal laws and
regulations. Guidance provided by these reviews is intended to assist local
agencies and project.sponsors to take actions that contribute to the attainment
of. regional goals and policies.
We have reviewed the Marinapark Resort & Community Plan, and have
determined that the proposed Project is not regionally significant per SCAG
Intergovernmental Review (IGR) Criteria and California Environmental Quality Act
(CEQA) Guidelines (Section 15206). The proposed project is not a residential
development of more than 500 dwelling units. Therefore, the proposed Project
does not warrant comments at this time. Should there be a change in the scope
of the proposed Project, we would appreciate the opportunity to review and
comment at that time.
-Paul A description of the proposed Project was published in SCAG's April 16 -30, 2004
Tonic
goo Intergovernmental Review Clearinahouse Report for public review and comment.
Weiss, Los Angeles • Bob lbusefan, Glendale
Dennis Zlne, Los Angeles
Orange County: Chris today, Orange County
Ronald Bates, Ins Alamitos • Lou Bone, Tustin
Art Brown. Buena Park • Richard Chavez,An ebeim
Debbie Cook, Huntington Beach • Cathryn
DeYoung, Laguna Niguel • Mchand Dixon, lake
Forest • Alta Duke, La Palma • Bev Pr,,, Brea
Tod Ridgeway, Newport Beach
Riverside County: Marion Ashley. Riverside
County • Thomas Buckley, lake Elsinore • Bonnie
Flickinger, Moreno Valley • Ron Loveridge,
Rfvemide • Greg Penis, Cathedral City • Ron
Roberts, Temecula
San Bernardino County: Paul Blame, San
Bernardino County • Bill Alexander, Rancho
Cucamonga • Edward Bmgnon, Town of Apple
Valley • bery ence Dale, Barstow • Lee Ann Garcia,
Grand Toren,- Susan Longvilk, San Bernardino •
Gary Conn Ontario • Deborah Robertson, Rialto
Ventura County. Judy Mikele, violas County
Glen Beceu; Simi Valley • Cad Morehouse, San
Buenaventura • Toni Young Port Hueneme
Orange County Transportation Authority:
Quarks Smith, Oninge, County
RNemlde County Transportation Commissiw:
Robin Luwe, Hemet
WlNUra CountyTranspurtalion Commission: Bill
Davis, Simi Valley
(D atNedm Recordo Pane ssys/myon
The project title and SCAG Clearinghouse number should be used in all
correspondence with SCAG concerning this Project. Correspondence should be
sent to the attention of the Clearinghouse Coordinator. If you have any questions,
please contact me at (213) 236 -1867. Thank you.
Sincerely,
JEFFREY M. SMITH, AICP
Senior Regional Planner
Intergovernmental Review
;�-� /'5�
lI
MEMORANDUM
To: James Campbell, Senior Planner
Planning Department, City of Newport Beach
From: Environmental Quality Affairs Citizens Advisory Committee ("EQAC
City of Newport Beach
Subject: The City of Newport Beach's Draft Environmental Impact Report ( "DEIR")
for the implementation and development of the Marinapark Resort and
Community Plan (the "Project ")
Date: May 28, 2004
Thank you for the opportunity to provide these comments on the captioned DEIR for the
Project.
I. A Brief Summary of Our Concerns.
We recommend that the City reconsider and revise the DEIR and/or respond to the
following concerns during the public review process for the DEIR. Because of the concerns listed
below, we believe that the City should revise the document and re- circulate the revised document
for public review and comment.
We make these recommendations for several reasons:
(1) The DEIR fails to describe the Project fully and accurately, thereby undercutting the
public's and decision maker's ability to understand the Project, determine impacts of
the Project and evaluate mitigation measures.
(2) The DEIR fails to recognize and analyze potentially significant impacts discussed in
the Initial Study/Notice of Preparation for the DEIR including impacts regarding
hazards and hazardous materials, and recreation.
(3) The DEIR fails to discuss and analyze all Project related impacts including those
associated with Transportation/Circulation, Land Use, Hydrology and Water Quality
and other issues, as well as cumulative impacts for all issues analyzed.
(4) The DEIR fails to analyze fully the growth inducing impacts of the Project and/or
provide mitigation for such impacts.
(5) The DEIR fails to analyze and discuss fully the Project alternatives and assess
objectively the environmentally superior alternative.
/Z
EQAC
Page 2
May 28, 2004
U. Introduction: EIR Standards.
which:
An EIR constitutes the heart of CEQA: An EIR is the primary environmental document
".. serves as a public disclosure document explaining the effects of the proposed
project on the environment, alternatives to the project, and ways to minimize adverse
effects and to increase beneficial effects."
CEQA Guidelines section 15149(b). See California Public Resources Code section 21003(b)
(requiring that the document must disclose impacts and mitigation so that the document will be
meaningful and useful to the public and decision makers.)
Further, CEQA Guidelines section 15151 sets forth the'adequacy standards for an EIR:
"An EIR should be prepared with a sufficient degree of analysis to provide decision -
makers with information which enables them to make a decision which takes
account of the environmental consequences. An evaluation of the environmental
effects of a proposed project need not be exhaustive, but sufficiency of an EIR is to
be reviewed in the light of what is reasonably feasible. Disagreement among experts
does not make an EIR inadequate, but the EIR should summarize the main points of
disagreement among the experts. The courts have looked not forperfection but for
adequacy, completeness, and a good faith attempt at full disclosure."
Further, "the EIR must contain facts and analysis, not just the agency's bare conclusions or
opinions." Concerned Citizens of Costa Mesa. Inc v 32nd District Agricultural Association
(1986) 42 Cal. 3d929 (Emphasis supplied).
In addition, an EIR must specifically address the environmental effects and mitigation of the
Project. But "[t]he degree of specificity required in an EIR will correspond to the degree of
specificity involved in the underlying activity which is described in the EIR." CEQA Guidelines
section 15146. The analysis in an EIR must be specific enough to further informed decision making
and public participation. The EIR must produce sufficient information and analysis to understand
the environmental impacts of the proposed project and to permit a reasonable choice of
alternatives so far as environmental aspects are concerned. See Laurel Heights hnprovement
Association v. Regents of the University of California (1988) 47 Cal. 3d 376.
Also, to the extent that an EIR proposes mitigation measures, it must provide specific
measures. It cannot defer such measures until some future date or event. "By deferring
environmental assessment to a future date, the conditions run counter to that policy of CEQA which
requires environmental review at the earliest feasible stage in the planning process." Sundstrom v.
County of Mendocino (1988) 202 Cal. App. 3d 296, 308. See Bozung v. Local Agency Formation
Com.(1975)13 Cal.3d 263, 282 (holding that "the principle that the environmental impact should be
assessed as early as possible in government planning. "); Mount Sutro Defense Committee v.
Regents of University of California (1978) 77 Cal. App. 3d 20,34 (noting that environmental
problems should be considered at a point in the planning process "where genuine flexibility
remains "). CEQA requires more than a promise of mitigation of significant impacts: mitigation
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EQAC
Page 3
May 28, 2004
measures must really minimize an identified impact.
II. Section 1: Introduction and Effects Found Not to be Significant (Section 1.6).
The Introduction discusses general CEQA issues, formatting of the DEIR, the IS/NOP, the
scoping process and effects found not to be significant. The latter— "Effects Found Not to be
Significant"— raises substantive concerns.
Section 1.6 notes that, during the scoping process, various impacts were found to be
potentially significant, whereas others were found not to be significant: These latter include
"Hazards and Hazardous Materials," and "Recreation." For various reasons discussed below, these
are potentially significant impacts: the DEIR should include a detailed discussion and analysis of
such impacts, and propose necessary mitigation.
A. Hazards and Hazardous Materials.
Appendix A of the DEIR includes the Initial Study, Environmental Checklist and the
Discussion of Environmental Evaluation. The Checklist Item No. VII addresses Hazards and
Hazardous Materials. 'Item No. VII b) indicates that it is less than significant that the Project would
create a significant hazard to the public or the environment through reasonably foreseeable upset
and accident conditions involving the release of hazardous materials. However, Item No. VII c)
indicates that the Project may have a potentially significant impact by emitting hazardous emissions
or handling hazardous or acutely hazardous materials, substances, or waste within one - quarter mile
of an existing school. Item No. VII d) indicates that the Project may have a potentially significant
impact unless mitigated in that the Project is located on a site which is included on a list of
hazardous materials sites and as a result would create a significant hazard to the public or the
environment.
The Discussion of these Items is helpfiil. Under Item No. VII b), the Discussion notes that,
because of the presence of motorized construction equipment, there is a small risk of gasoline or
diesel spillage. However, the Discussion concludes that such is less than significant.
Under Item No. VII c), the Discussion notes that the Project is within one - quarter mile of
Newport Elementary School. It states that an inventory of materials and quantities used in
construction and operation of the Project will be created. If necessary, any hazardous materials will
be identified and mitigation measures proposed.
As for Item No. VII d), the Discussion explains that past or present on -site and off -site uses
have the potential to result in the release of toxic substances.
"[ P]roject implementation will require the removal of onsite structures, which
depending on date of construction may contain lead or asbestos materials. A
regulatory database review will be conducted for the proposed project, results
of the database review will be summarized in the EIR and the review results
included in their entirety as an appendix to the document. Mitigation measures
will be recommended as appropriate."
!'-1
EQAC
Page 4
May 28, 2004
The DEIR does not address the IS/NOP analysis. Instead, the DEIR concludes that the
Project's impacts on hazards and hazardous materials are insignificant. For gasoline or diesel
spillage, the DEIR includes a similar analysis as the IS/NOP: the risk is less than significant.
For proximity to schools including Newport Elementary, the DER is silent. As discussed
below, it refers to a (Limited) Phase lI Soils Assessment but concludes no significant impact.
The Phase 11 assessment is not attached as an appendix. The DEIR notes that the analysis
identified small concentrations of trace petroleum hydrocarbons, metals and organocholorine
pesticide in and around portions of the Project site. Submarine sediment samples indicated low
concentrations of various but unidentified hydrocarbons.
The DEIR fails to keep the promise of the IS/NOP: the DEIR includes no "regulatory
database review and summary." Moreover, it fails to include the Phase II study or make such
available for public review. Incidentally, the DEIR states that such contaminants are below action
levels; yet it provides no indication as to what those action levels are. Given the promise of the
IS/NOP, the DEIR should be revised to include items discussed above, and the revised DEIR should
include a thorough analysis of all such impacts.
Moreover, the conclusions of the Phase II study seems implausible. The Project's location
is near the mouth of the Rhein Channel which we understand is regarded as highly polluted.
Although the IS/NOP appeared to recognize this challenge, the DEIR fails to consider and analyze
the Project's impacts including destruction and removal of existing docks and structures,
construction and installation of new docks and structures, and other Project related activities on
submarine sediment in and around this problematic water body.
In addition, we understand that Chevron or another company had a storage facility near the
Project site in the past. The DEIR should include an analysis and/or study of any emissions from
the storage site and any Project related impacts arising from disturbance and/or release of any
hazardous materials from such site or contamination from such site as a result of the construction
and operation of the Project.
Also, as discussed below, notwithstanding the DEIR's conclusion that the Project will have
no significant impact on hazards and hazardous materials, the DEIR discusses the Project's hazards
and hazardous materials impacts in relation to biological resources. The DEIR's analysis of hazards
in relation to biological resources undercuts the DEIR's conclusions that Project's impacts on
hazards and hazardous materials are insignificant.
B. Recreation.
The DEIR also regards the Project's impacts on recreational opportunities as
insignificant. However, Project features and configuration themselves require environmental
analysis in order to make such conclusion. The Project "will replace all recreational facilities except
the basketball half - court." DEIR, 1 -6. This raises several problems.
At the outset, the demolition and replacement of existing facilities will have short-term
construction impacts on all of these recreational opportunities. Without more analysis and
1S
EQAC
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May 28, 2004
discussion, such impacts appear to be significant, at least in the short term. Further, the replacement
of such facilities is problematic: without further analysis and perhaps mitigation, it is unclear that
the replaced facilities will provide access and have features similar to the existing facilities.
Further, the elimination of the half -court basketball facility requires further analysis and
discussion. This resource appears to be unique: it's configuration and alignment may make it more
popular than full court facilities in the area.
Also, the Project's resort proposes joint use of the recreational facilities. Without more
analysis, such use may significantly and adversely affect residents' use of the Project facilities.
Finally, a crucial Project alternative is a recreation alternative. In order to assess, analyze
and evaluate the alternatives; the DER should include an analysis of the Project's impacts on
recreational opportunities.
C. Conclusion.
The DEIR should be revised to include a full environmental analysis of the Project's
impacts on hazards and hazardous materials, and recreation.
III. Section 2: Executive Summary.
The Executive Summary attempts to summarize the Project Description (discussed below),
the areas of controversy /issues to be resolved, and a summary of impacts and mitigation.
Section 2.2 addresses areas of controversy /issues to be resolved. It notes:
"The area of controversy associated with the proposed project is the intensification of land
uses on the project site. The location of the tideland boundary is an issue that is to be
resolved."
Both of these are problematic. As to the area of controversy, "intensification of land use"
improperly simplifies the issues: the area of controversy is the replacement of the current designated
use— Recreational and Environmental Open Space — with a commercial use which requires a General
Plan Amendment and other approvals.
The DEIR's statement about the issue to be resolved— tideland boundary— is surprising. The
DER should resolve this issue in its analysis of the existing site. The DEIR's failure to resolve this
issue undercuts its usefulness. Moreover, Section 3.4 indicates that, among other permits, the
Project will require a lease of tidelands. In order for the public and decision makers to understand
the Project's impacts on tideland boundaries and the impacts of this lease, the DEIR should include
a detailed discussion of the tidelands location, and the nature and extent of such lease. Without
resolving this issue in the DER, the document cannot fulfill its own requirements.
Section 2.5 includes a table which identifies Project impacts and mitigation. For a
discussion of Project impacts, see our discussion below. However, as to mitigation, Table 2 -1 raises
a general problem: deferral of mitigation measures. As indicated above, CEQA requires
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environmental review at the earliest feasible stage in the planning process. For each mitigation
measure identified in Table 2 -1, each measure is deferred to some future event or permit issuance.
In order to understand the nature and extent of mitigation and to assess whether the proposed
mitigation fully and adequately addresses the impact, the DEIR should fully identify and discuss all
mitigation measures; discuss how such measures will lessen impacts to a level of insignficance, and
if necessary, provide alternative mitigation measures for any measure which does not fully mitigate
identified impacts.
IV. Section 3. The Proiect Description.
Section 3. 1.1 discusses Site Characteristics. Among other things, the DEIR notes that the
Project site is bound by "a public beach and Newport Bay to the north." Although Section 3.1.1
discusses many of the current site characteristics, it fails to discuss the location and character of the
tidelands issue. This issue may affect the Project, the analysis of the Project impacts, the
alternatives analysis and related matters. The DEIR should include a full discussion of the tidelands
boundary issue, resolve the issue, locate the boundary, and discuss all Project related impacts.
Among other features, the Project includes twelve (12) new boat slips and replacement of
public tennis courts on the deck of the proposed parking structure. As to the boat slips, the DEIR
states that this feature will require dredging of approximately 1,250 to 1,750 cubic yards of bay
sediment to create the boat basin; this "clean sand" will be placed on shore side of a proposed
Project related bulkhead. This raises several issues.
The Project includes twelve (12) new marina slips with four (4) available for public use and
eight (8) available for Project guests. The current forty -six (46) American Legion slips will remain.
However, the DEIR fails to discuss the relation of the American Legion slips to the Project feature
slips.
Also, the IS/NOP and the DER recognize that the Project may affect hazards and hazardous
materials. As discussed above, these two documents are inconsistent in their assessment of the
Project's impacts on hazards. However, given that the Project requires removal and relocation of
1,250 to 1,750 cubic yards of bay sediment, the DEIR should fully address the character of this
sediment, analyze any impact to hazards and hazardous materials, and, if necessary, provide
mitigation.
Further; it is unclear where this excavation will occur especially in relation to the tidelands
boundary. As noted above, the DEIR fails to discuss the tidelands location. The DEIR should
provide a clear description of the location of this excavation in relation to the tidelands, and if
necessary, provide adequate mitigation.
Regarding the tennis court, the Project description notes their location but fails to address
public access to this Project feature. Indeed, the Project description fails to discuss all sorts of
public access issues. How does the public gain access to the beach? Does the beach remain a
public beach? What are the public access features for all Project related structures including the
community center, tot lot, and parking?
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Also, the Project is entitled the "Marinapark Resort & Community Plan." The Project
description includes no reference to the "Community Plan." The revised DEIR should fully explain
the Project including the "Community Plan."
Incidentally, the Project description includes some internal inconsistencies which require
explanation and resolution: First, exhibit 3 -3, Site Plan, shows the Girl Scout House and the Spa
Villa to be 4,166 square feet each; however Table 3.2 -1 on the next page states that.the Girl Scout
House/Community Center and the Spa Villa will be 6,191. Second, the Site Plan shows shared
parking at the comer of 18s' Street and Balboa Boulevard, but further in the document, in the
Aesthetics section, the computer - generated visual simulations shows two -story villas at this comer.
Section 3.3 discusses Project Objectives. These Objectives include several
economic /commercial objectives:
"Complement efforts to revitalize Balboa Village and enhance other commercial
areas on the Peninsula;
Provide additional general fund revenue that will help the City maintain or enhance
the high level of public safety and municipal services provided to Newport Beach
residents.
Enhance public access and community facilities on the site without any expenditure
of tax revenue and without any fiscal impact on the Girl Scouts and other users."
DEK 3 -8. The DEIR includes no detailed discussion of these and other objectives. However, it
is unclear that such objectives are appropriate for the Project site and the current environmental
analysis. The only Project Alternative in the DEIR which meets these economic objectives is the
Project. Given these economic objectives, the DEIR should include an economic analysis which
shows how and why the Project meets these and other objectives, provides a detailed discussion of
City revenues from the Project including lease payments, taxes and other sources of revenue, and
other economic considerations appropriate.
. Section 3.4 addresses "Intended Uses" of the DEIR. The section identifies various
discretionary approvals by the City. It notes:
"Other actions necessary to implement the project are identified later in the section
under `Other Discretionary and Ministerial Actions. "'
DEM, 3 -9. However, the DEIR contains no such section. The DEIR should be revised to
include a full list of all discretionary approvals by all agencies.
Finally, the DEIR inadequately covers permitting and approvals: the election requirement.
We understand that the City proposes to submit this Project to the voters. The DEIR should discuss
this requirement, and explain its relation to the CEQA process and Project approval.
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V. Section 4: General Description of Environmental Setting.
Section 4.1 addresses the environmental setting. As indicated above, nothing in the DEIR
locates the tidelands boundary. These section should be revised to include a discussion and,
perhaps, a map of such boundary.
Further, we understand that the Marinapark mobile home park is a park on City owned land
with a lease. The DEIR recognizes that the park is a 40 -year facility but fails to discuss the lease
hold, its term, the landlord and other crucial and important terns.
Section 4.2 discusses related projects. It notes that the City provided several related
projects; presumably, Table 4 -1 is the list provided. However, it is incomplete. First, as indicated
in the Project objectives, DEIR recognizes that in the Project vicinity, the City and others are
engaged in "efforts to revitalize Balboa Village and enhance other commercial areas on the
Peninsula." These efforts are related projects and should be included in the cumulative impacts list.
Among other efforts, we understand that several plans to develop live /work projects in and
around the Project vicinity are pending. Likewise, these plans should be included in the cumulative
impacts list.
VI. Section 5: Project Impacts. Mitigation Measures, and Level of Significance After
Mitigation.
A. Section 5.1: Geologv and Soils.
Section 5.1 address geotechnical impacts of the Project. The DEIR includes a
geotechnical report for the site. Among other things, the DEIR notes that
"[ l]iquefaction occurs when shallow, fine to medium - grained sediments saturated with water
are subjected to strong seismic shaking. Liquefaction usually occurs when the underlying
water table is 50 feet or less below the surface."
DEIR, 5.1 -2. Also, the DEIR notes that expansive soils are those which can give up or take on
water. Id.
The DEIR notes that, although the onsite soils are not expansive, "[t]he potential for
liquefaction during a major seismic event is considered to be high." As noted above, liquefaction
may depend on depth to groundwater. The DEIR should state depth to groundwater at the site,
discuss the soils character, explain why, though the sands will hold water, they are not expansive
and related issues.
Moreover, Section 5.1.4 considers two mitigation measures. As before, this section fails to
discuss depth to groundwater. The two mitigation measures depend upon permit issuance: the first
depends upon issuance of a grading permit and concerns aspects of the grading plans. However, it
fails to state the depth if any of such grading. The second depends upon issuance of a building
permit and concerns slab alternatives. However, the section fails to determine which slab type will
be employed.
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B. Section 5.2: HvdroloEV and Water Ouali
Section 5.2 concerns hydrology and water quality. This section notes that the
Project will have short-term construction impacts on water quality and hydrology, long term
operational impacts and cumulative impacts. Construction impacts include soils erosion, trash and
debris which may leave the Project site. hi addition, construction activities in connection with the
marina will include re- introduction of contaminants through construction activities which may
"resuspend" bottom sediment as well as increase in turbidity.
Long term operational impacts include increased flow concentrations at a majority of
Project related storm drains with a decrease in several such drains. In addition, the Project will
increase peak flows during 100 -year storm events along 18d' and 15'x' Streets while flows along
Balboa Boulevard would decrease somewhat.
Water quality impacts of the Project include trash, debris, oil and grease, and other
pollutants including heavy metals, oxygen demanding substances, nutrients and organic compounds.
Further, installation of a cement walkway from the resort to the marina will interrupt tidal flows and
water circulation, and may create stagnant water conditions.
Finally, the DEIR recognizes that the Project "will substantially contribute to a potential
significant cumulative impact on existing storm drain systems." It will "also increase urban
pollutants that would substantially contribute to a potential significant cumulative impact on surface
water quality."
The DEIR includes five mitigation measures. Most of these mitigation measures defer
mitigation measures until issuance of grading permits.
This analysis and mitigation is problematic for several reasons. The impacts analysis fails to
discuss current drainage and percolation, as well as the proposed drainage and percolation of the
Project.
Also, the DEIR fails to consider several potential mitigation measures. Increasing pervious
surfaces may limit surface water run -off. Indeed, Section 7, the Alternatives Analysis, states that
the Project is superior to the Marine Alternative due to its increase of pervious surfaces. Yet the
DEIR fails to discuss this issue, analyze the nature and extent of such surfaces, and, if necessary,
propose mitigation.
In addition, the Project together with other revitalization efforts may significantly affect the
storm drain capacity. Yet, the DEIR does not consider whether the Project may require re- sizing of
storm drains in the vicinity.
Also, none of the mitigation measures address the Project's cumulative impacts on
hydrology and water quality. Mitigation of such impacts could include establishment of stormwater
mitigation program for a comprehensive upgrade of the storm drains on the Peninsula. The Project
could contribute its fair share to such a mitigation program.
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Further, as indicated above, such deferral of specific mitigation measures does not comply
with the requirements of CEQA which requires full discussion of all impacts and mitigation.
Deferral of the development of various mitigation measures until some permitting or pursuant to
various regulatory bodies including the City and/or the Regional Water Quality Control Board is not
informative: precise Project features and mitigation are deferred until after the public and decision
makers have had an opportunity to review, comment and in the case of decision makers, decide on
the DEIR and the Project. The DEIR should be revised to discuss fully all water quality and
hydrology impacts, and provide specific and enforceable mitigation measures to lessen any such
impacts.
C. Section 5.3: Bioloacal Resources.
Section 5.3 concerns the Project's potential impacts on biological resources. Section 5.3.1
addresses existing conditions including sediments and habitats and marine biological communities
near the Project. As indicated above, the DEIR includes no detailed discussion of hazards and
hazardous materials. Section 5.3.1 repeats the earlier discussion regarding low levels of pollutants.
Further, in discussing sub -tidal bay floor sediments, the DEIR states that environmental site
assessment indicates the presence of low concentrations of petroleum hydrocarbons in the upper
one -half foot of the bay mud.
This is inadequate: as indicated above, the Project will require excavation of between 1,250
to 1,750 cubic yards of "bay mud." Testing on the upper one -half foot fails to test the full extent of
this excavation.
The DEIR should be revised to include a full analysis of hazards and hazardous materials so
that the entire environmental analysis of the Project's impacts including hazards and hazardous
materials and biological resources.
Also as indicated above, the analysis indicates that contaminates including those in sub -tidal
bay sediments are below action levels for soils on land but fails to provide the action levels. The
revised DEIR should provide this information, or indicate that they are the same as those for soils on
land.
In addition, in connection with the existing conditions regarding bay fishes, the DEIR relies
on a otter trawl net sampling of fish species known to occur in Newport Bay that was conducted for
eighteen (18) months between 1974 and 1975. This sampling would seem to be too out -of -date to
be of any value in assessing the number of species in the Bay and the proposed Project's potential
impact on those fish species. The DEIR should be revised to include a more recent sampling or
more recent information on the fish species known to occur in Newport Bay and consider the
Project's impacts on identified species. Also, if for some reason the thirty year old study remains
useful, the revised DEIR should explain the utility of this thirty year old study and alternatives.
In assessing the Project's impacts on shoreline habitats and resources, the DEIR states that
"(t)he proposed cement walkway from the resort hotel to the boat slips will result in the loss of
approximately 490 square feet of sandy shoreline which is foraging habitat for shorebirds. This
long -term loss is considered significant." Page 5.3 -7 Since the site currently has an existing
concrete walkway, it is unclear how the new walkway will have this kind of impact. Based on the
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conclusion that there will be this significant impact, it appears that the Project walkway must differ
from the existing walkway, e.g. project out further into the shoreline. This is not clear from the
Project Description or anywhere else in the DEIR
Further, the DEIR is inconsistent in discussing this impact. As stated above, on Page 5.3 -7,
the DEIR characterizes the loss of foraging habitat for shorebirds as significant. However, on Page
5.3 -9, the DEIR states: "No direct mortality of shorebirds and seabirds will occur. The long -term
presence of the boat slips, bulkhead and concrete walkway will however, reduce shorebird and
seabird resting and foraging habitat, however, this is not considered a significant impact." An
accurate assessment of the impacts to birds should be provided in the Final EK and this
inconsistency should be corrected.
The DEIR contains another and important inconsistency. Section 5.3.3 recognizes that
Project construction will have an impact on benthic communities in the Project area. However,
Section 5.3.3 concludes that "[t]he loss of benthic infauna and epifauna due to dredging will be a
short-term less than significant impact " This conclusion is problematic: dredging will continue
through the life of the Project. Thus, such impact may be more than short tern.
Moreover, Section 5.3.6 states that, regarding biological resources, "[w]ith the
implementation of the above mitigation measures, only one significant unavoidable adverse impact
would remain." DEIR, 5.3 -13.
"This impact would occur during the short-term and would be on the benthic
resources that would be removed from the bayfloor during project and maintenance
dredging activities."
Id. However, Section 6.1 concludes that there are no significant and unavoidable impacts. The
DEIR should be revised to resolve this inconsistency: either the impact on benthic resources is
significant or not. Moreover, such impacts will be more than long term: impacts on benthic
resources will occur during Project construction as well as maintenance dredging.
Also, as indicated above, all Biological Resources Mitigation Measures are deferred until
the issuance of either a grading permit or a permit from a resource agency. This deferral of
mitigation is not permissible under CEQA.
In addition, most of the Mitigation Measures list various regulatory plans, e.g. stormwater
pollution prevention plan ( "SWPPP ") which describes best management practices ("BMPs ").
However, the analysis is incomplete and generic; all of these Mitigation Measures appear to be
boilerplate, with no direct reference to the impacts to biological resources present at the proposed
Project site or the actual mitigation proposed. The DEIR should include an appropriate expert
analysis to discuss Project specific impacts and mitigation as well as to develop the various
regulatory plans. The discussion of mitigation measures in this section seems more appropriate for
a program level analysis. The Final EIR should more fully discuss the impacts and mitigation
proposed
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D. Section 5.4: Land Use and Plannine.
Section 5.4 addresses the proposed Project's consistency with various elements of
the General Plan. Section 5.4.1 describes existing conditions including the Land Use Element of the
General Plan. It provides regarding the Project site:
"The existing mobile home park use will be allowed to continue until the end of the
existing lease. At that time the City will make the decision as to whether the lease
should be further extended, or the property converted to public use."
DEK 5.4-4. The DEIR then states that this description "indicates that the existing mobile home
park is not consistent with the existing land use designation for the site." Id.
However, in Section 5.4.3 which addresses Project impacts, the DEIR fails to discuss and
analyze the Project's consistency with this requirement of conversion "to public use" at the end of
the existing lease.
Also, this section indicates that the Project will not divide the community, because "[a]ccess
to and through the project site is maintained." DEIR, 5.4 -8. However, as indicated above, public
access to and through the Project is unclear. Moreover, as discussed in Section 5.7, Noise, the
Project will serve as a sound barrier which will block vehicular noise from Balboa Blvd. to the
Project. If the Project serves as such a barrier, it likely will divide the community. The DEIR
should be revised to show the access points and routes from Balboa Blvd. through the Project to the
Bay.
In addition, Section 5.4.3 discusses the Land Use Element, Policy C which provides:
"Commercial, recreation or destination visitor serving facilities in and around the
harbor shall be controlled and regulated to minimize congestion and parking
shortages, to ensure access to the water for residents and visitors, as well as
maintain the high quality of life and the unique and beautiful residential areas that
border the harbor."
DEIR, 5.4.9. Emphasis added. However, the DEIR's discussion of parking requirements shows
that, although the Project will provide a total of 209 surface and subterranean parking spaces, the
Project demand is only 92 spaces under the current Code requirements; the Project will result in a
total of 117 excess parking spaces.
This raises a few problems or questions. First, the code requirements appear at odds with
Policy C's requirements. Moreover, the Code requirements seem skimpy: one space for every two
rooms; one space for 300 square feet of the proposed Community Center and Girl Scout House; and
four spaces for the four tennis courts. Likely, each visitor enjoying a Project/resort room will
require one parking space; likely, each individual using the tennis courts will require parking. The
DEIR should include a further study regarding the parking demand of the Project to ensure that
Policy C of the Land Use Element is met.
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In our earlier comments on the NOP for the proposed Project, we noted that the Project
Description failed to discuss employee, contractor and supplier parking and access. The DEIR also
fails to discuss how parking and access will be provided within the proposed Project for these
groups. The Section goes on to say that the proposed Project will provide 117 parking spaces
beyond what is required by the code. Perhaps these "excess" parking spaces are intended to
accommodate employees, contractors and suppliers, but this issue is not addressed in the DEIR.
The DEIR should be revised to address the issue of parking for these groups, because parking on the
Peninsula is such an important issue.
As indicated here and below, Section 5.4 addresses the Project's parking demands and
Section 5.5, Transportation /Circulation includes no parking analysis. This confusion creates
another problem. Although Section 5.4 discusses the Project's parking requirements, it fails to
discuss existing parking including street parking. We believe that the Project will result in a loss of
parking spaces from current levels. Based upon our information and calculations, the following is a
tabulation of the parking spaces which the Project will cause to be lost:
Metered public parking at 18th street curbside 5
Metered public parking at 18th street lot 23
Community Bldg. Staff 2
Girl Scouts dedicated and gated 10
Public Parking at Tot lot 2
Total Lost Spaces 42
Given this loss of 42 spaces as a result of the Project, there is an excess of only 75 spaces That is,
the loss of parking spaces as a result of the Project must be counted against the excess parking
spaces. The DEIR should be revised to include a thorough parking analysis under Section 5.6 and,
if necessary, propose adequate mitigation.
Further, the Project is proposed as a Five Star resort hotel with 110 rooms and fifty -eight
(58) employees. We understand that other Five Star hotles in the area require a much higher ratio.
As indicated above, the DEIR has eliminated Recreation from the environmental issues to
be addressed, even though Recreation had been included in the NOR The DE1R states that the half
court basketball court doesn't get much use, according to City's recreation staff, and therefore, will
not be replaced. Page 5.4 -12 However, residents of the Peninsula do, in fact, use the court.
Because the court is protected from the wind by its location on the Bay side of the Peninsula and
between the tennis courts, it is preferred over the full court located on the ocean side at the
elementary school. In fact, the City has recently completed some repairs to the court, presumably
because it is used The Final EIR should address this impact and provide necessary mitigation.
Further, the DEIR states that the proposed Project would replace the four tennis courts with
the same number of courts, but the hotel would offer tennis lessons on the courts. How will this
impact the current heavy use of the tennis courts? The Final EIR should include a Recreation
section, which analyzes these proposed Project's impacts and provide necessary mitigation.
Further, Section 5.4.1 and following sections include a discussion of the Recreation and
Open Space Element of the General Plan stating that it has "been determined to be applicable to the
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proposed project..." In fact, the DEIR states that "(t)he project site is designated Recreation and
Environmental Open Space." DEIR, 5.4 -3.
The DEIR mentions that Charter Boats and Boat Tours may pass the Project. The Project
may accommodate some of these boats. The DEIR should address all impacts associated with such
large boats and propose necessary mitigation. In addition, any Project permit should condition such
use so that any and all such impacts are mitigated, or if not, should restrict such use.
One of the objectives of the Recreation and Open Space Element is to "[m]aintain and
enhance the scenic character of the City." The policy which supports this objective seeks to
"protect and enhance existing view opportunities, especially public views of the ocean, harbor, and
upper bay...." Section 5.4.3 states that the Project would provide view corridors from Balboa
Boulevard to the Bay; and therefore, the proposed Project is consistent with the objective of the
Recreation and Open Space Element. However, the views from Balboa Boulevard through the
majority of the proposed Project site will be obstructed by 24 -foot, 27 -foot or 34 -foot buildings
which will act as a sound barrier. The Final EIR should analyze this impact more realistically and
provide necessary mitigation.
Finally, the DEIR states that, because the Project is compatible with surrounding land uses
and consistent with the General Plan and the Local Coastal Program, Land Use Plan, the Project
will not have any cumulative land use impacts. However, the Project requires discretionary actions,
e.g. amendments, regarding the City's General Plan and Local Coastal Program, Land Use Plan as
well as a Coastal Development Permit. As discussed above, the Project together with other projects
listed in Table 4 -1 as well as the efforts to revitalize the Peninsula may create significant cumulative
impacts in connection with land use. The DEIR should be revised to discuss and address such
cumulative impacts.
Incidentally, the DEIR offers inconsistent building setback requirements on 18th Street. In
the discussion relating to land use compatibility, the DEIR states that "(t)he structures proposed
along the 18th Street will have a setback of 14 to 17 feet. Page 5.4 -8 However, the Aesthetics
Section lists a building setback for 18th Street as 5 feet. This inconsistency should be corrected in
the Final EIR.
E. Section 5.5: Transuortation/Circulation.
Section 5.5 addresses transportation and circulation. This analysis is supported by a
special traffic study, Appendix E: Marinapark Resort and Community Plan TPO: Traffic Analysis.
This analysis focuses on 7 intersections during weekdays of the "shoulder season," fall and spring
when schools are in session. The intersection closest to the proposed project is Newport Blvd. and
32id St. Sections 5.5.5 concludes that the Project will have no significant transportation and
circulation impacts; Section 5.5.6 concludes that therefore no mitigation measures are needed.
However, Table A -1 to Appendix E recognizes what every summer visitor to the Peninsula
and full -time resident knows: the summer weekend traffic in the vicinity of Balboa Blvd. and 20th
St. is already at LOS E or worse which exceeds the City's standard of acceptable service, LOS D.
Although the Project traffic may not exceed the 1 % increase threshold, it likely will contribute to
the existing traffic problem. Moreover, as indicated above, the Project together with other projects
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identified in Table 4 -1 as well as the revitalization efforts on the Peninsula likely will have
cumulative impacts which require mitigation. The City may wish to consider improved traffic flow
measures in this area to include, for example, limited on- street parking, better turn-out lanes and
improved traffic signal timing/synchronization.
In our comments on the IS/NOP for the Project, we requested that the DEIR "analyze and, if
necessary, propose mitigation for Project impacts on seasonal traffic problems ". It further requests
that the DEIR "discuss and analyze the Projects design and impact on the intersections at 15'", 16'",
17'" and 18'" streets with Balboa Blvd." The DEIR did not take the suggestion and none of these
intersections were addressed. The DEIR should be revised to address these intersections, provide an
environmental analysis of the Project's impacts on transportation in the vicinity, and, if necessary,
propose mitigation.
Further, traffic associated with Resort employee, construction and service vehicles is not
mentioned in the DEIR. Are there plans to schedule deliveries and plans for off -site employee
parking to minimize traffic impacts?
Correlatively, the DEIR does not address traffic access and internal circulation at the site.
As indicated above, the DEIR states that the Project will not have significant impacts on vehicular
access and, by implication, no impacts on.internal circulation. Yet, the document is silent on these
issues. The DEIR should be revised to address and consider vehicular access and internal
circulation, identify any Project related impacts, and propose necessary mitigation.
Also, the Project may have short-term impacts on transportation and circulation. Section 5.6
suggests that the Project will require a construction traffic management plan. Yet, Section 5.5
contains no analysis of the short-term construction impacts of the Project on transportation and
circulation. The DEIR should be revised to include an analysis of the short term construction
impacts on traffic and circulation, discuss the construction traffic management plan, and, if
necessary, propose adequate mitigation.
Finally, as discussed briefly above, the DEIR attempts to address parking demands in
connection with the Land Use analysis which discusses code requirements for the Project.
However, the DEIR should include an actual study on the parking demands for the Project which
considers and addresses all Project features. However, Section 5.5 should include a parking study
which addresses the Project's parking demands, access to parking lots, and related issues. The
DEIR should be revised to address these potentially significant impacts and, if necessary, propose
mitigation.
F. Section 5_6: Air Oualitv.
Without any analysis of hazards and hazardous materials in or around the Project
site, the DEIR concludes that the Project will have no impacts on air quality in that the Project will
"not result in exposure of sensitive receptors to substantial concentrations of pollutants or generate
objectionable odors." DEIR, 5.6 -12.
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However, without the hazardous materials analysis, this conclusion is difficult to support.
As indicated above, the Project is near several areas subject to significant contamination. Such may
have migrated to the site. The DEIR should be revised to include an analysis of such materials and
pollutants, the air quality analysis should be revised to include and refer to the pollutant analysis,
and if necessary, mitigation should be proposed.
G. Section 5.7: Noise.
Section 5.7 addresses potential noise impacts associated with the Project. As
indicated in Section 3.1.1 and elsewhere, the Project is partially surrounded by residential
neighborhoods. Such are sensitive noise receptors.
Section 5.7.3 recognizes that the Project's heating, air conditioning and ventilation
equipment may create minor amounts of noise but concludes that such noise is commonplace.
However, the Project's operations will include other non - commonplace noise sources including
delivery and trash trucks, employee transportation and other vehicular noise sources not present
under the current configuration. The DEIR should be revised to include a noise study of the Project
impact on residences including those along 19,' St: and West Bay, and 18"' St. and West Bay. If
necessary, the revised document should propose adequate mitigation measures.
In addition, the Project may attract other noise sources including Charter Boats and Boat
Tour operators. Such new sources likely will generate noise sufficient to adversely affect the
residential neighborhoods. The DEIR should analyze all such impacts including noise impacts to
residential neighborhoods across the bay and propose adequate mitigation.
Further, Section 5.7.3 indicates that a primary noise source is traffic and that the Project will
not be affected by noise from traffic on Balboa Blvd., because the buildings will block noise from
Balboa Blvd. However, given this sound barrier, the Project may generate noise from various
events which noise may adversely affect neighbors across the bay. Section. 5.7 contains no
discussion or analysis of such noise generation and impacts. The DEIR should be revised to include
such an analysis and, if necessary, propose mitigation.
Section 5.7 shows that noise levels associated with the Project will not be significantly
higher than they are now except during the construction phase. Since Municipal Noise Codes are
formulated in terms of 24 -hour average noise levels, it is likely that short term noise impacts may be
significant without mitigation. In view of this, we recommend that the DEIR include mitigation
measures to ensure that construction companies and crews should be required to use all reasonable
care to minimize noise generation by silencing loud equipment when feasible, avoiding early
morning deliveries, controlling construction -site radios, and so forth. These considerations will
minimize neighborhood disturbance and potential complaints. Construction companies should be
encouraged to build subassemblies off-site when possible.
The supporting noise impact analysis, Appendix G, notes that construction equipment noise
will reach 90 dB when operating at full load. This will probably result in exceeding acceptable
noise levels at the original or relocated Tot Lot(children's play area) during construction.
Mitigation of this effect in the form of sound barriers around the Tot Lot should be required.
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H. Section 5.8: Aesthetics.
Section 5.8 concerns the potential aesthetic impacts of the Project. Section 5.8.2
discusses Project impacts including those associated with public views, building heights, and
setbacks. Among other things, the DEIR indicates that the Project will enhance public views.
However, the DEIR is silent on the manner of enhancement. As indicated above, the DEIR
maintains that the Project will create sound barrier so that vehicular noise will not reach Project
visitors. Given this feature, it is unclear how the Project will enhance public views but diminish
noise from Balboa Blvd.
As indicated above, the DEIR contains some inconsistencies regarding set backs. The
computer - generated visual simulations are helpful in illustrating the type of architecture and the
overall look of the buildings. However, the simulations appear to have altered the lighting between
the before and after condition. For instance, Exhibit 5.8 -2 clearly shows the architectural features of
the Project in the after condition; the lighting in the before condition makes it impossible to assess
what is there.
In addition, there are some inconsistencies with what is being said in the text and what is
being illustrated in the simulations; and in some cases, the computer simulations are misleading. In
addition, there are inconsistencies within the text. The text on Page 3 -5 states that "(t)he maximum
height proposed for the two -level villas is 27 feet while the proposed tower will be 34 feet in
height." The text on Page 5.8 -2 states that "the hotel will have a maximum height of 24 feet. The
main lobby will have a height of 34 feet " However, the computer simulation, Exhibit 5.8 -3 shows
a tower that appears to be 10 feet taller than the surrounding buildings. Will the main lobby area be
10 feet taller than the other hotel buildings? Considering that the hotel lobby is almost 20,000
square feet, which is nearly 20 percent of the "Total Enclosed Floor Area," Table 3.2 -1, Page 3 -5,
the height and overall scale are not accurately represented in the computer - generated visual
simulations.
Also, all of the computer simulations show no overhead utility lines, though such lines exist
today. Yet the DEIR contains no discussion of this Project feature. Please confirm that these
utilities will be placed underground as a part of the Project
In our comments on the IS/NOP, we stated the DEIR should analyze and address Project
related aesthetic impacts to the character of Balboa Blvd., which will be substantially altered by the
volume and mass of the structures that are proposed. The DEIR states that the setback for the
proposed Project from Balboa Boulevard is 15 feet. Does this include the main lobby with a height
of 34 feet? Again, this is not clear from the computer simulations. However, if that is the case, that
volume and mass will have a considerable aesthetic impact on the character of Balboa Boulevard
Finally, Section 5.8.3 addresses cumulative impacts. It concludes that, because the projects
listed in Table 4 -1 are remote from the Project, it would not contribute to any cumulative impacts.
However, as indicated throughout, additional projects must be considered including the
revitalization efforts in the Peninsula. The DEIR should be revised to consider and assess the
cumulative impact of the Project together with the efforts to revitalize the area, and if necessary,
propose mitigation.
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I. Section 5.9: Public Services.
1. Section 5.9.1: Police Services.
Section 5.9.1 concludes that, based upon a discussion with and/or statement
from a member of the City's Police Department, the Project will have no significant impact on
police services. The DEIR fails to discuss the authorization and position of Lieutenant Klein and
his authority regarding manpower and service levels.
Further, in our comments on the IS/NOP, we requested information regarding the number of
service calls both for the Project as well as the other Project Alternatives. The DEIR contains no
such information.
In addition, the City has experienced demands on police services during the summer
including on the Fourth of July. The Project may require additional staffing at this time as well as
others.
The DEIR should be revised to include the requested information, provide additional
information concerning peak demands on police services including the Fourth of July, and, if
necessary, provide mitigation, e.g. private security for the Project.
2. Section 5.9.2: Fire Services.
Section 5.9.2 concerning fire services draws a similar conclusion as above
for similar reasons: based upon a discussion with and/or statement from a member of the City's Fire
Department, the Project will have no significant impact on police services. The DEIR fails to
discuss the authorization and position of Mr. Lerch and his authority regarding manpower and
service levels.
In addition, Section 5.9.2 observes that:
"Mith two fire stations located within one mile of the project site, emergency
response time would be adequate."
This may be misleading: we understand that the responding station may not be the closest station.
Moreover, staffing at the stations differ: only one of the referenced stations has medical personnel.
In addition, as indicated above, the DEIR does not discuss access and internal circulation.
Although the DEIR promises that emergency access roads and resources will be provided, the DEIR
contains no discussion for such access and resources. The DEIR should be revised to provide this
discussion.
Also, this section states that for fire suppression, "the municipal water supply should be
adequate." DEIR, 5.9 -3. This statement should be stronger. The DEIR should be revised to
include a study of the availability of fire suppression resources to ensure that the water supply will
be adequate in the event of a fire.
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Both Section 5.9.1 and 5.9.2 indicate that the Project together with others will have
no cumulative impacts on these services. However, as indicated above, the DEIR's cumulative
impacts analyses for all impacts focuses upon Table 4 -1. The DEIR's cumulative impacts analysis
should also consider the revitalization efforts on the Peninsula to ensure that the Project together
with the Table 4 -1 projects as well as the revitalization efforts do not have cumulative impacts on
various resources including fire and police services.
3. Section 5.93: Solid Waste.
Section 5:9.3 addresses solid waste issues. Section 5.9.3 estimates that, in
the existing condition, the Project site generates 522.31 pounds per day of solid waste. This section
estimates that the Project will generate 403.5 pounds per day. These totals come from Tables 5.9 -1
and 5.9 -2.
However, the estimate of waste generation for the existing condition seems high. Table 5.9-
1 addresses the existing condition and projects that the mobile home park generates 481.6 pounds
per day. Although this estimate is based upon State of California estimates that a household
generates between 4 and 8.6 pounds per day. Table 5.9 -1 uses 8.6 pounds per day.
This is problematic for several reasons. The DEIR fails to explain why the existing
condition uses the maximum expected trash generation. Further, the DEIR fails to consider that
many residents in the existing condition are only part time residents. Both of these would
significantly lessen the estimate of the existing condition.
Also, the projection for the Project seems low and fails to consider the type of solid waste
generated by the Project. Much of the waste generated by the Project would include wet kitchen
trash which would require more frequent collection. Also, we are unaware of any similar resort or
hotel within the City that would generate such a small amount of solid waste.
Section 5.9.3's cumulative impact analysis is likewise inadequate. The section contains no
cumulative impact analysis: it merely concludes that the amount of waste would be an incremental
contribution and would not be significant.
The DEIR should be revised to study the solid waste generation both for the existing
condition and the Project condition, and if necessary, propose mitigation.
4. Section 5.9.4: Water Service.
Section 5.9.4 addresses water supply and service. Further, this section
indicates that the Project will require relocation of the existing water main to a different alignment
on the site. It concludes that this relocation will have no impacts.
However, without more explanation, this is questionable. Residents, schools and other
businesses in the area will suffer during the construction and relocation process. The DEIR fails to
recognize this impact and provide mitigation for these short term impacts.
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5. Section 5.95: Wastewater Service.
Section 5.9.5 addresses waste water issues. Under existing conditions, the
site generates a total of 7,093 gallons per day; the Project is proposed to generate more than three
times this much: 22,553 gallons per day without any increased capacity to handle the increase flows.
Moreover, the cumulative impacts analysis concludes that the Project together with future
development will not create significant impacts. However, given that the Project will significantly
increase demands on an aging infrastructure and the cumulative effect of the revitalization efforts on
the Peninsula, the DEIR should include a study to insure that capacity and infrastructure are
adequate and that the Project will have no significant wastewater impacts.
6. Section 5.9.6: Gas; and Section 5.9.7: Electricity.
Both sections conclude that the Project will have no impact on these
services. Both sections recognize that the Project will require twice as much gas and electricity as
the existing condition. Moreover, both sections indicate that, even with this doubling together with
future development including the revitalization of the Peninsula, the Project will not have
cumulative impacts.
The DEIR should be revised to include an analysis of the adequacy of resource supply as
well as consider alternative sources, e.g. solar to replace electric consumption. If necessary, the
DEIR should propose adequate mitigation.
VII. Section 6: Other CEOA Considerations.
Section 6.1 addresses significant and unavoidable impacts. It concludes that the Project will
have no such impacts. As indicated above, Section 5.3 indicates that even after mitigation, "only
one significant unavoidable impact would remain" on benthic resources in or around the Project
site. DEIR, 5.3 -13. The DEIR should be revised or explained so that this problem is resolved, and
the public and decision makers may understand the Project's impacts as well as the need for any
additional findings.
Section 6.2 concerns growth inducing impacts. As indicated above, the Project is part of a
revitalization effort for the Peninsula. As such, the Project may have growth inducing impacts. As
elsewhere in the DEIR, Section 6.2 fails to consider the Project in relation to these revitalization
efforts. The DEIR should be revised to consider the Project's growth inducing impacts when
considered with these revitalization efforts, and if necessary, propose mitigation.
VIII. Section 7: Alternatives to the Proposed Proiect
A. Section 7.1: The No Proiect Alternative.
Under the No Project Alternative, the existing state is the project alternative.
Section 7.1.2 states that the No Project Alternative is the environmentally superior alternative
because it maintains the site in its existing condition. Nonetheless, because the No Project
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Alternative will not meet any Project Objectives, the DEIR concludes that the No Project
Alternative is not feasible.
However, Section 7.1 is inadequate. First, the DEIR's analysis of the existing site is
inadequate. The DEIR fails to discuss and explain all of the environmental impacts associated with
the current use and the existing condition including hazardous materials, water quality, land use, and
other issues of the existing condition of the site.
As to the Project Objectives, as indicated above, some of the Project Objectives are
problematic: the advancement of economic goals do not seem to be appropriate environmental
goals. Further, and more importantly, the DEIR fails to discuss exactly how the Project meets or
advances these economic goals.
B. Section 7.2: The Marinanark Marine Recreation Alternative.
Section 7.2.1 discusses the Marine Alternative which includes parkland, land for the
Girl Scout Center /Community Center, tennis and basketball courts, over 248 parking spaces, boat
moorings and a boat launch.
Section 7.2.2 is the impacts analysis for the Marine Alternative. This section concludes that
the Marine Alternative would result in: less impacts than the Project to geology and soils, aesthetics
and public services; similar impacts as the Project for land use and planning; and greater impacts
than the Project for hydrology and water quality, biological resources, transportation/circulation, air
quality and noise. Many of these latter stem from the analysis' estimate that the Marine Alternative
would generate more traffic.
However, this estimate is without substantiation or analysis. Indeed, it seems unlikely that
this alternative will generate significantly more traffic. The DEIR should be revised to provide a
full and complete traffic analysis of the Marine Alternative including variants and discuss the
impacts in relation to the Project.
If the Marine Alternative generates less traffic, then other impacts including air quality,
noise, traffic and other related issues would be lower. If so, then the Marine Alternative could be
the environmentally superior Alternative.
However, this conclusion is based upon specific features of the Marine Alternative which
could be modified to eliminate such impacts. For instance, Section 7.2.2 notes that the Marine
Alternative will have greater water quality impacts, because it would include greater parking areas
and impervious surfaces. As discussed above, the DEIR fails to discuss the amount of pervious
surfaces for the Project. Moreover, the Marine Alternative could use alternative paving methods for
the parking spaces including pervious pavers. Such would lessen any water quality impacts for the
Marine Alternative.
Or again, this section indicates that the Marine Alternative will have greater impacts on
biological resources, because it would include "larger boat slips and boat launch" than the Project.
Again, these features can be changed. Section 7.2.2 recognizes that the Marine Alternative's
impacts on biological resources could be mitigated.
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As for land use, the DEIR states that both the Project and the Marine Alternative are
"compatible with surrounding land uses consistent with the General Plan." DEIR, 7 -4. However,
the analysis fails to discuss whether the Marine Alternative will require a General Plan Amendment.
The DEIR should be revised to provide more detail and analysis for the Marine Alternative,
and reconsider and discuss the evaluation of its environmental rank and its feasibility.
C. Section 73: The Reduced Intensity Alternative.
Section 7.3 addresses the Reduced Intensity Alternative which would include an 88
room hotel, a 4,500 square foot restaurant and 12 boat slips. Section 7.3.3 concludes that the
Reduced Intensity Alternative would result in greater environmental impacts than the Project.
Among other things, Section 7.3.2 concludes that the Reduced Intensity Alternative would have
greater transportation and circulation impacts, because it would result in 869 average daily trips as
opposed to the Project's 640 average daily trips. However, many of those trips are associated with
the large restaurant. A different project feature, e.g. a smaller restaurant and/or parkland, would
reduce such trips, perhaps below the Project level.
As before, the Reduced Intensity Alternative fixes on features that may create significant
impacts whereas other possible features with fewer impacts are not analyzed. The DEIR should be
revised to consider other features for the Reduced Intensity Alternative, and reconsider and discuss
the evaluation of its environmental rank.
IX. Miscellaneous Considerations.
We note that the Project m the IS/NOP is entitled the Newport Regent Beach Hotel. The
Project for the DEIR is entitled the Marinapark Resort Hotel and Community Plan. The DEIR
should explain the change and the proposed Community Plan.
X. Conclusion.
Thank you for the opportunity to comment on the captioned document. For the foregoing
reasons, we recommend that the DEIR be revised to address the issues raised above.
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