HomeMy WebLinkAbout2003-11-17_EQAC_AgendaCITY OF NEWPORT BEACH
ENVIRONMENTAL QUALITY AFFAIRS
, COMMITTEE
AGENDA
DATE /TIME: MONDAY, November 17, 2003 — 7:00 P.M.
LOCATION: Police Department Auditorium
870 Santa Barbara Drive
.-TeM 1I
1. Minutes of October 20, 2003 (draft minutes attached)`
2. Subcommittee Report on Regent Newport Beach Resort Hotel Notice of Preparation
(NOP) (draft report attached)
3. Subcommittee Report on St. Mark Presbyterian Church Notice Of Preparation (NOP)
4. Subcommittee Report on Draft EIR for Pacific City, Huntington Beach
5. Subcommittee Report on Supplemental Draft El for Centerline (draft report attached)
6. Report from Membership Subcommittee
7. Report from EQAC Representative to GPUC
8. Report from EQAC Members on GPAC
9. Report on LCP process
10. Council Member Reports
11. Report from staff on current projects
12. Public Comments
13. Future Agenda Items
NEXT MEETING DATE: December 15, 2003
LOCATION: Police Dept Auditorium
*Draft attachments can be found on the City's website http://www.city.nCWPOI'L-buacii.Ca,L[S. Click on City Councii and
then click on Azeirda.s and Minures. The Attachments are also available in the City of Newport Beach Planning
Department, 3300 Newport Boulevard, Building C, 2 "' Floor
CITY OF NEWPORT BEACH
ENVIRONMENTAL QUALITY AFFAIRS COMMITTEE
DRAFT Minutes 10 -20 -03
Minutes of the Environmental Quality Affairs Citizens Advisory Committee held at the City
Council Chambers, 3300 Newport Boulevard, on October 20, 2003.
Members Present
Richard Nichols, Council Member
Tom Hyans
Robert Hawkins, Chairperson
Elaine Linhoff
Cris Trapp, Vice Chairman
Nancy Raney
Brent Cooper
Richard Rivett
Laura Dietz
Dolores Otting
Thomas Eastmond
Louis Von Dyl
Maggie Fitzgerald
Jennifer Winn
Ray Halowski
Staff Representatives
Sharon Wood, Assistant City Manager
Niki Kallikounis, Planning Department Assistant
Members Not Present
Steve Bromberg, Mayor Phillip Lugar
Barry Allen Jim Miller
Gary Borquez Marge Pantzar
Gus Chabre Christopher Welsh
Carol Hoffman
The meeting was called to order at 7:00 p.m.
1. Minutes of September 15, 2003
Motion was made by Cris Trapp to approve the minutes as written. Seconded by
Jennifer Winn.
Chairman Hawkins commented on the meeting attendance and suggested that the
Membership Subcommittee meet to propose rules regarding attendance and to
send a report to the City Council regarding the attendance of members. Chairman
Hawkins stated that he was concerned about the level of participation in the reports.
Cris Trapp volunteered to serve on the Membership Subcommittee.
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Sharon Wood noted, for the benefit of the Membership Subcommittee e, that the
resolution contains a statement regarding attendance, which they might want to
refer to.
Motion passed unanimously.
2. Report from Airport Issues Subcommittee on Notice of Preparation (NOP) for John
Wayne Airport Expansion
Maggie Fitzgerald reported the Airport Issues Subcommittee II met with City
Attorney, Bob Burnham to discuss the Notice of Preparation and Scoping on the
John Wayne Airport Settlement Amendment Implementation Plan.
3. Review of CEQA Procedures
Sharon Wood gave a brief review of the CEQA procedures. Discussion ensued
with questions and answers.
4. New Projects
a. Environmental documents for Irvine Business Complex office and residential
development
Ms. Wood commented, at the last meeting, the City Council asked that
EQAC look at these environmental documents. Ms. Wood described the
Irvine Business Complex project. Discussion ensued with questions and
answers. A subcommittee was appointed as follows:
Cris Trapp, Laura Dietz, Thomas Eastmond, and Dolores Otting.
b. Draft Environmental Impact Report (DEIR) for Pacific City, Huntington Beach
The Draft Environmental Impact Report is available on -line at
www.ci.huntington-beach.ca.us/citvdepartments/planning - look in the major
projects section. Ms. Wood described the project. Discussion ensued with
questions and answers. A subcommittee was appointed as follows:
Brent Cooper, Ray Halowski, Jennifer Winn, and Maggie Fitzgerald.
C. Supplemental Draft EIR for Centerline
Ms. Wood noted that EQAC commented on the first DEIR on Centerline. Ms.
Wood described the Supplemental DEIR. Discussion ensued with questions
and answers. This Supplemental DEIR is on line at www.octa.net/centerline.
A subcommittee was appointed as follows:
Louis Von Dyl, Richard Rivett, Tom Hyans, Elaine Linhoff, and Chairman
Hawkins.
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Chairman Hawkins asked Ms. Wood if there were other projects. Ms. Wood
reported that they are awaiting the Notice of Preparation (NOP) for St. Mark
Presbyterian Church. The NOP for the Regent Newport Beach was
distributed today to the outside agencies and will be available online.
5. Report from EQAC Representative to GPUC
None.
6. Report from EQAC Members on GPAC
Laura Dietz reported there was a presentation on Bolsa Chica. Ms. Wood said they
are trying to give the committee presentations from other communities that have
faced similar issues as Newport Beach faces.
7. Report on LCP Process
Sharon Wood reported that the technical comments were received from the
California Coastal Commission (CCC) staff. Scheduling is in process for the LCP
Certification Committee to meet and review these comments.
8. Council Member Reports
Council Member Nichols reported that he called up the house they are building at
3431 Ocean Boulevard.
Council Member Nichols reported on the take over by the City of Coast Highway
and asked if that would have an Environmental Impact Report for the committee to
look at. Ms. Wood responded that any proposed physical changes will have
environmental review.
9. Report from Staff on Current Projects
This report by Ms. Wood was covered under discussion of item 4c.
10. Public Comments
Tom Hyans commented that the biological resources; a discussion of traffic analysis
and traffic models as they relate to seasonal impacts; and a presentation by Hoag
Hospital on their master plan will be coming up on GPAC.
Chairman Hawkins commented that they received a notice of resignation of Gary
Borquez. Mr. Borquez was Mayor Pro Tern Ridgeway's At -Large appointee.
Chairman Hawkins said the Membership Subcommittee needs to start pulling
together some potential members for EQAC to forward to Mayor Pro Tem Ridgeway
for his consideration.
Chairman Hawkins asked Council Member Nichols if he had a candidate to fill the
vacancy At- Large. Council Member Nichols responded that he did have a
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candidate but it has not been confirmed as yet; and if anyone knew of others who
would serve in District 6 to urge them to apply.
11. Future Agenda Items
• Membership Subcommittee to report on the rules of attendance proposal and
candidates for Mayor Pro Tern Ridgeway's vacancy
Subcommittee reports on Irvine Business Complex office
• Draft EIR for Pacific City, Huntington Beach
• Supplemental Draft EIR for Centerline
• Regent Hotel Notice of Preparation (NOP)
St. Mark Presbyterian Church NOP
• New meeting location because of Police Department lock down for security
reasons.
Chairman Hawkins adjourned the meeting at 8:30 p.m.
4
MEMORANDUM
To: Environmental Quality Affairs Citizens Advisory Committee
City of Newport Beach
From: Regent Newport Beach Hotel Subcommittee
Environmental Quality Affairs Citizens Advisory Committee
City of Newport Beach
Subject: Notice of Preparation ( "NOP ") for the Regent Newport Beach Hotel
(the "Project ")
Date: November 12, 2003
Thank you for the opportunity to comment on the NOP for the captioned
Project located on over eight (8) acres along West Balboa Blvd. between 15`h Street and
18`h Street in the City of Newport Beach, California. We offer the following comments
in the hopes of improving the Draft Environmental Impact Report ( "DEIR ") and the
Project.
1. Project Description:
The NOP contains an incomplete and confusing Project Description which
the DEIR should complete and clarify. First, the Project Description of the hotel facility
proper does not discuss the character and density of the "one and two -story villas:" the
DEIR should discuss the number, location, and character of such villas individually and
collectively. Also, the Project Description indicates the construction of four (4) public
temris courts. The DEIR must explain how this amenity which is located on the roof -top
of the subterranean garage will be easily accessible and available to the public and the
mechanisms which will encourage such use.
Further and importantly, the Project Description conflicts with other parts
of the NOP. For instance, the Project Description states that the Project includes a
subterranean parking garage with one hundred (100) spaces and a forty -one (41) space
surface shared parking lot. However, section XV f) notes that, in addition to the above,
the Project will include sixty -eight (68) surface parking spaces for hotel uses. The DEIR
must clarify and explain in the Project Description the nature and extent of parking
resources for the Project and for replacement of existing parking spaces.
In addition, the Project Description fails to discuss employee, contractor
and supplier parking and access. The DEIR should discuss these Project features fully
and, if necessary, propose adequate mitigation.
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EQAC
City of Newport Beach
Page 2
November 12, 2003
Section 1.7 discusses Project Alternatives including the No Project
Alternative (Alternative 1), the Reduced Intensity Alternative (Alternative 2), and the
General Plan Consistent Alternative (Alternative 3). Alternative 2 is unclear: the NOP
fails to discuss the nature, extent and rationale for Alternative 2's features. Alternative 3
is likewise unclear: it fails to discuss clearly the nature, extent and character of the
alterative features including marine recreation and other uses. The DEIR should explain
each of these Alternatives clearly.
Finally, we have several formatting and identification concerns. First, the
contact information for Mr. Campbell appears to be incorrect and inconsistent. Second,
the maps are useless: they lack sufficient detail to inform the public of the nature of the
Project and its features. The DEIR should include a detailed set of maps for location of
the Project, its design and its features.
2. Environmental Checklist and Discussion:
a. Aesthetics:
The NOP states that the view corridors to Newport Bay from
Balboa Boulevard are currently obstructed by the existing improvements on the site and
that the Project will provide limited view corridors of the Bay. However, existing views
are over the top of the single story structures, and include palm trees along the Bay, the
tops of masts from sail boats on the Bay and the hills in the background. With the
addition of the Project's two -story structures, portions of the existing view corridors to
the Bay from Balboa Boulevard will be eliminated. The Environmental Checklist
Responses indicates that the Project will include public access view corridors; however,
the Project description does not address these view corridors. The DEIR should address
all features of the Project including the two story structures and the subterranean garage
with roof top tennis counts, explain the impacts of the two -story structures on Balboa
Blvd. views.
In addition, the NOP states that a "visual simulation analysis will be
conducted and impacts on view corridors will be evaluated" and mitigation measures will
be recommended as appropriate. The DEIR should include a visual simulation analysis.
Through this analysis, the DEIR should analyze and address any impacts on the views to
the Bay by the introduction of two -story structures. Further, the DEIR should analyze
and address Project related aesthetic impacts to the character of Balboa Boulevard, which
will be substantially altered by the volume and mass of the structures that are proposed.
Also, the DEIR should analyze the impacts of lighted tennis courts which
will be elevated approximately five feet above grade by the proposed project.
b. Air Quality:
Section III a) recognizes that the Project may be inconsistent with
"the local and regional growth projections and the SCAB Air Quality Management Plan."
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EQAC
City of Newport Beach
Page 3
November 12, 2003
The NOP notes that the DEIR may include the Project's consistency with such plans.
Such discussion must include a discussion of the consistency of existing uses with such
plans.
Sections III b), c) and d) recognize that the Project may create air
quality impacts and indicates that the DEIR will include an appendix on air quality
impacts. Such appendix and all appendices should be part of the DEIR and be generally
available to the public.
C. Biological Resources:
The NOP states that the Project site is directly adjacent to the
Newport Bay which "supports species such as eelgrass ... and invertebrates and also
serves as a foraging area for federally and State listed endangered and threatened bird
species."
However, the Checklist and Discussion conflicts with this explanation: -- the
Project site includes a new twelve (12) slip marina which may affect biological resources
in the Newport Bay which are quoted above. The DEIR should correctly identify the
Project site, recognize Project related impacts on biological resources and propose any
necessary mitigation.
d. Cultural Resources:
The NOP recognizes the developed character of the Project site.
The DEIR should recognize that the Project site has not been studied. If, however,
human remains or other cultural resources are found during Project construction, the
DEIR should explain the procedures proposed for preserving such resources and
notifying the appropriate regulatory entities.
e. Geol0Lry and Soils:
The Checklist recognizes that the Project may have potentially
significant impacts on geology and soils unless mitigation occurs. For instance, Section
IV a) iii) notes that the project site is located in an area susceptible to liquefaction and
Section IV d) notes that, due to the Project's proximity to Newport Bay, soils may spread
laterally toward the bay and result in instability.
Although Section IV b) recognizes that the Project will require excavation, it
states that such excavation is minimal. The DEIR should explain the exact nature and
.,-tent Of such Ox Cav ation, inc!udO a geotOehnical repoii which uiSCUSSOS, c xpiains and, if
necessary, propose mitigation for any impacts of the Project and associated excavation on
the soils at the Project site.
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EQAC
City of Newport Beach
Page 4
November 12, 2003
f. Hazards and Hazardous Materials:
Section VII recognizes that the Project may create significant
impacts unless mitigation occurs. The DEIR must explain the nature of such impacts and
propose the necessary mitigation.
For instance, Section VII b) concludes that the Project likely will have no
significant impact or significant hazard to the public or the environment due to accidents
or upsets involving hazardous materials. The DEIR should consider this aspect seriously.
The Project site may have hazardous materials in the land to be excavated and /or the
structures and improvements including trailers, mobile homes and boats (if any) which
may require removal. Removal of such materials and structures could create the potential
for upset or accident since the materials must be moved to a secure disposal location.
The DEIR must explain this activity, discuss the threshold of significance, study the
significance of the impact and, if necessary, propose mitigation.
Likewise, Section VII d) recognizes that the Project may create significant
impacts which will require mitigation because the Project is located on a site which may
have hazardous materials and/or the potential for release of such materials. Section VII
d) does not discuss whether or not the excavation of soils or dredging of the bay may
release such materials and whether simply the removal of structures and other
improvements may create such potential. Further, this section also fails to consider or
promise consideration of historic uses in and around the Project site including any uses
involving potentially hazardous materials which may have migrated to the site. In any
event, the DEIR should fully discuss these aspects of the Project, e.g. soils removal,
historic uses including adjacent uses which may affect the site and other issues, any
dredging and removal of structures and improvements, and if necessary, propose
adequate mitigation.
g, Hydrology and Water Quality:
Section VIII recognizes that the Project will affect existing
drainage and may create significant impacts on hydrology and water quality without
mitigation. The NOP notes that the Project will require a myriad of permits from federal,
state and local authorities.
The DEIR should explain in detail the potential impacts including short
term construction impacts and long term operational impacts of the Project. Then, the
DEIR should discuss, not merely the permitting processes and promise of compliance,
but propose actual measures which will be part of the Project's application and proposed
permit. Further, the NOP promises that a hydrology study will be prepared, surmnarized
in the DEIR and included as an appendix. In addition to these, the Appendix should be
generally available to the public.
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EQAC
City of Newport Beach
Page 5
November 12, 2003
Section VIII h) indicates that the Project with its proposed excavation and
possible dredging will have no impacts on groundwater. The DEIR should explain and
expand this discussion and explain how, with the excavation, the Project will have no
impact on groundwater resources. Indeed, construction of the Project including the
subterranean garage may require de- watering facilities. If so, then the DEIR should
reconsider the significance of Project impacts on groundwater.
h. Land Use and Plannine:
Section IX b) recognizes that the Project potentially conflicts with
applicable land use regulations. Specifically, it states that the project will require a
General Plan Amendment, a zone change, an amendment to the Land Use Plan of the
Local Coastal Program, the adoption of the Regent Planned Community District Plan and
a Use Permit. It also states that the DEIR will include an evaluation of the Project's
compatibility with existing land uses and environmental plans and policies of the City,
and mitigation measures will be recommended as appropriate.
Section IX d) notes that the Project is not in the vicinity of a habitat conservation
plan. However, the City is in the process of developing a plan for eel grass. The DEIR
should discuss these efforts fully, identify any impacts and, if necessary, propose any
necessary mitigation.
i. Noise:
Section XI recognizes that the Project may create significant noise
impacts unless mitigation occurs. The DEIR must fully analyze and explain the nature
and extent of any such impacts including all short term impacts relating to construction
and all long term impacts relating to the operation of the Project. In the discussion of XI
a), b), e), and d), the NOP recognizes that noise impacts of the Project may be different
from existing or the no project alternative due to increased traffic.
However, this is only the tip of the iceberg: both long term and short term
impacts will arise which will not occur in the no build alternative. The DEIR should
thoroughly discuss all such impacts including noise associated with the hotel and its
activities where little or no such noise occurs in the no build alternative.
Further, Section XI's discussion is one - sided: it concerns only noise receptors
which are external to the Project. The DEIR should also consider, analyze and discuss
Project internal noise receptors, e.g, guests, visitors, employees and contractors, in order
to determine fully the nature and extent of the Project impacts. If necessary, the DEIR
should provide mitigation for this internal impact.
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EQAC
City of Newport Beach
Page 6
November 12, 2003
L Population and Housing:
Section XII recognizes that the Project may create less than
significant impacts on housing in the City. Section XII a) estimates that the Project may
result in an increase of fifty -eight (58) employees for the hotel. Given the character of
the hotel, e.g. an upscale five star resort, this figure seems low even for the reduced scale
of the Project. The DEIR should fully analyze this aspect, provide a range of employee
numbers, and discuss the impacts of a projected maximum number of employees. The
DEIR should also discuss the availability of housing for any such maximum number of
workers including any workers which may require access to low cost housing.
Section XII b) indicates that, although the Project may displace existing residents
of the mobile home park, most of these are not full -time residents and their mobile homes
are merely vacation homes. Although it may be advisable to change the use of the site,
the DEIR must fully discuss any displacement including removal of any low cost housing
including senior affordable housing which is present on the site.
k. Public Services:
Section XIII i), ii) and v) indicates that the Project may create
potentially significant impacts on public services including fire and police services.
Although the NOP indicates that full discussion of such impacts awaits the preparation of
the DEIR, we believe that the DEIR should fully discuss impacts on public services
including fire and police in view of the heightened security consciousness in the City and
throughout the country. This discussion should include all necessary information
including for example the number of project calls for any such services as well as the
numbers of calls for the no build alternative.
1. recreation:
Section XIV recognizes that any Project related impacts on recreation
will be non - existent or less than significant. Section XIV b) is troubling: although it
concludes that the Project will have a less than significant impact on recreational facilities, it
concludes that any significant impacts may require mitigation. The DEIR should clarify this
and other issues relating to recreation.
Section XIV a) indicates that the Project will have no impact on the use of existing
recreational resources. The DEIR should carefully consider this conclusion and analyze the
nature and character of the proposed use. We understand that the one rationale for the
Project is that it will increase access to and views of Newport Bay. If so, then the DEIR
should analyze the impacts of any such use and propose necessary mitigation.
For example, currently the public may gain access to the Bay through the existing
mobile home park. We understand that the Project will increase such access. The DEIR
should address any impacts due to this increased access and if necessary, propose mitigation.
EQAC
City of Newport Beach
Page 7
November 12, 2003
Section XIV b) addresses the Project's recreational features. As indicated above, the
conclusion is confusing: Significant impacts requiring mitigation or no significant impacts.
Likely the former is the case.
Currently, the Project site includes four (4) public tennis courts which are easily
accessible. The Project proposes a roof top alignment above the proposed subterranean
garage. The DEIF2 should discuss public use and access to this roof top facility as well as
guest use and access. The DEIR should propose necessary mitigation in case public use is
adversely affected by the Project. In addition and as discussed below, the DEIR should
address public parking for any such recreational use, e.g, use of the roof top tennis courts.
In addition, currently the Project site has docks and related facilities for boat mooring.
The DEIR should address the Project related use of such recreational space, frilly address any
Project related impacts including use of limited number of spaces and, if necessary, provide
mitigation.
Further, as indicated above, the Project is supposed to increase public access to the
Bay and Bay front beaches. The DEIR should discuss this Project amenity and benefit,
analyze any impacts including impacts on water quality and /or recreation, and if necessary,
propose adequate mitigation.
Also, the Project proposes to replace many existing on site recreational facilities
including tennis courts, community center /Girl Scout Center and children's play area.
The DEIR should discuss and analyze the compatibility of such uses with the proposed
hotel, any impacts of the hotel on such uses and /or vice versa, and, if necessary,
mitigation for such impacts.
M. Transportation and Circulation:
Sections XV a) and b) recognize that the Project may create
significant traffic impacts which may require mitigation. The discussion promises a
traffic study, and if necessary, mitigation or Project features which may address such
problems. However, the discussion fails to appreciate the seasonal character of traffic
along Balboa Blvd. The DEIR should incorporate the analysis promised by the NOP and
also discuss, analyze and if necessary propose mitigation for Project impacts on seasonal
traffic problems in the area and the Project's impacts on such traffic problems.
Section XV d) concludes that the Project will have no impact related to design
hazards. However, this conclusion lacks support. The DEIR should discuss and analyze
the Project's design and impact on the intersections at 15 "i, 16 ", 17`x' and 18`x' Streets with
Balboa Blvd. This analysis should address the Project impacts on driver's lines of sight
at these various intersections for drivers gaining access to Balboa Blvd.
EQAC
City of Newport Beach
Page 8
November 12, 2003
In addition, the NOP contains a truncated Project description which may affect
Section XV d)'s analysis. For instance, this section does not address access for service
vehicles to the 100 car garage by way of the alley from 15'' Street and next to the
Veterans Park and barbecue area where there is no sidewalk.
Section. XV f) indicates that the Project may result in inadequate parking. As
indicated above, the Project description including the description of Project parking
demands and resources is incomplete. First, the nature of the shared parking is unclear
and requires specificity. The DEIR should fully discuss the nature of such parking plan,
its ability to meet the parking demand and any necessary mitigation.
The NOP promises that the DEIR will incorporate a parking study as an appendix.
As indicated above, the appendices including the parking appendix should be generally
available.
More importantly, the parking study should address all of the Project's parking
demands including the Project's guests, employees, service providers and consultants as
well as the demands of the other uses on the site. In addition, the parking study should
also address parking in the area including the Project's potential impacts on street
parking. For instance, will the Project result in a loss of street parking because of
dedicated turn lanes? Also, will special events at the Project affect on- street parking
including metered and non - metered parking adversely? The DEIR should analyze these
and other issues, and if necessary, propose appropriate mitigation.
n. Mandatory 1FindimZs of Significance:
Section XVII analyzes the mandatory findings including the
Project's impact on and degradation of the environment, cumulative impacts and any
impacts which may cause substantial adverse effects on human beings. Although Section
XVII notes that the Project may result in potentially significant impacts for each
category, it fails to mention whether the DEIR will consider mitigation measures for any
such impacts. We encourage the preparers to include a discussion of mitigation measures
for any such impacts.
3. Conclusion:
Thank you for the opportunity to comment on this important Project. We hope
that these comments will further perfect the DEIR and the Project.
i2
MEMORANDUM
To: Environmental Quality Affairs Citizens Advisory Committee ( "EQAC ")
City of Newport Beach
From: Sub - Committee for Centerline 2 for EQAC
City of Newport Beach
Subject: U. S. Department of Transportation, Federal Transit Administration's
( "FTA ") and Orange County Transportation Authority's ("OCTA ")
SECOND Supplemental Draft Environmental Impact Statement/Revised
Environmental Impact Report ( "SDEIS/RDEIR ") for the Orange County
CenterLine Project (the "Project')
Date: November 12, 2003
Thank you for the opportunity to provide these comments on the SECOND Supplemental
Draft Environmental Impact Statement/Revised Environmental Impact Report (the "Second
SDEIS/RDEIR" or the "Document ") for the Project prepared by FTA and OCTA. Collectively,
we refer to FTA and OCTA as the "Agencies."
To the extent applicable, these comments incorporate our comments on the earlier
Supplement Draft Environmental Impact Statement/Revised Environmental Impact Report.
I. A Brief Summary of Our Concerns.
We recommend that the Agencies reconsider the Second SDEIS /RDEIR, revise
the document to address the Project's impacts in connection with the John Wayne Airport and
flight schedules, natural resources in and around the City and other issues discussed below, and
recirculate the document for public comment. We make these recommendations for several
reasons:
(1) The Second SDEIS /RDEIR fails to describe the Project fully and accurately,
thereby undercutting the public's ability to review the Second SDEIS /RDEIR,
determine impacts of the Project and evaluate mitigation measures.
(2) The Second SDEIS /RDEIR fails to discuss, identify, analyze and mitigate the
Project's impacts of increased passenger loads to the John Wayne Airport;
(3) The Second SDEIS /RDEIR fails to recognize, analyze and mitigate the Project's
impacts on the jewel of Newport Beach —San Diego Creek and the Back Bay.
(4) The Second SDEIS /RDEIR contain other failings discussed below; the Agencies
should address these and other issues.
/J
C...
EQAC
11/12/2003
Page 2
II. Introduction: EIR/EIS and Legal 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 decisionmakers.)
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 for perfection 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. 3d 929.
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. Some projects such as general plan adoption deal with general issues;
but CEQA also applies to small projects which require merely a conditional use permit. 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 Improvement Association v
Regents of the University of California (1988) 47 Cal. M 376.
EQAC
11/12/2003
Page 3
Finally, in connection areas near airports, a recent amendment to the CEQA Guidelines
requires:
"When a lead agency prepares an EIR for a project within the boundaries of a
comprehensive airport land use plan or, if a comprehensive airport land use plan
has not been adopted for a project within two nautical miles of a public airport or
public use airport, the agency shall utilize the Airport Land Use Planning
Handbook published by Caltrans' Division of Aeronautics to assist in the
preparation of the EIR relative to potential airport- related safety hazards and noise
problems."
CEQA Guidelines section 15154(a).
The federal standards established for evaluating an EIS may be more relaxed than the
California standards for evaluating an EIR. Nonetheless, an EIS should be a self contained
document which informs the decisionmakers and the public "without the need for undue cross -
reference." Baltimore Gas and Electric Co. v. Natural Resources Defense Council (1983) 462
U.S. 87, 99 -101, n. 12 and 13.
Finally, as we indicated in our first comments on the SDEIS /RDEIR, the CEQA
Guidelines section 15160 discusses various types of EIRs. Article 11 of the CEQA Guidelines
does not address a "Revised EIR." Further, a review of the CEQA case law reveals no such use.
II. Procedural Issues: The "Revised DEIR" and Document Availability.
The Executive Summary attempts to explain the Project History and the Decision Making
Process. The Summary attempts to explain the need for the Supplemental Environmental Impact
Statement and the Revised Environmental Impact Report.
However, as with the SEIS /RDEIR, this section fails to explain why this Second SEIS is
supplemental and this Second DEIR is revised. Indeed, Footnote 1 fails to clarify anything: it
simply provides a shorthand method of identification without any explanation of why and how
the environmental documents for the Project continue to have successive but different iterations.
It is probably better to start with a new and fresh environmental document.
Also and as with the SEIS /RDEIR, the Agencies have attempted to make the Document
and the earlier DEIS/DEIR for the Project generally available to the public. However, this
attempt has met with difficulties. First and foremost, the Document is available on CD -ROM
and on the OCTA website. Although the Document is available in this electronic medium, these
applications are not generally available to the public.
Moreover, the Document's current format is difficult to read in the electronic mediun:
the paper copies are superior. Unfortunately, the paper copies are not generally available.
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Further, paper copies of the document are available at the City of Costa Mesa. As noted
above, the City has promoted the Project. Unfortunately, the document is not available within
the City of Newport Beach: the document is not available at the City of Newport Beach's Public
Library or anywhere in the City,
As we suggested in our comments of the SEIS /RDEIR, we suggest that in connection
with future Project documents, the Agencies make other such documents fully electronic and
allow for ease of use. Either that, or provide the public with paper documents.
III. Section 1: Statement of Purpose and Need.
As indicated above, this Section purports to discuss the background of the Project and the
need for the Document. However, this Section fails to discuss and explain in a. clear fashion the
need for a Revised EIR, instead of some Addendum or other document. Moreover, this appears
to be a project in search of an environmental document.
Section 1.0 states that OCTA is the lead agency:
"OCTA is the primary transportation agencies for the cities and unincorporated
areas of Orange County; it provides transit services in Orange County ...."
However, Section 1,5.1, "Project History," describes the history of the Project. Among
other things, it recognizes that, while OCTA voted to delay the Project, three cities— Santa Ana,
Costa Mesa, and Irvine, two of which border the City of Newport Beach— proposed the current
preferred alternative. That is, three cities carried the ball on this Project; OCTA is not acting as a
lead agency for the entire County of Orange but simply for these cities.
In addition, the Document refers to an undefined phrase: "Refined Planning Area" as the
area of the Project. However, nowhere does the Document discuss the nature and extent of this
refinement. The Document notes that the refined area includes the Three Cities, "comprises only
7 percent of the county's total area," and "... includes approximately 18 percent of the county's
population and 27 percent of the county's employment." Given this concentration of jobs and
population, the Document must, but fails to, thoroughly analyze the Project's impacts on this
dense population and employment/commercial center.
As with the SEIS /RDEIR, one of the reasons for this SDEIS/RDEIR is the discussion of
the new Alternatives. As discussed immediately below, the Alternatives discussion is
inadequate: the Agencies should continue to revise and improve the Document so that the
Alternatives discussion fulfills its promise and explains the need for continued revisions to the
Project and its description.
Further, and more importantly, Section 1.3 purports to discuss "the Need for the Project."
Among other things, Section 1.3 notes that the Project "provides a necessary component of that
[efficient multimodal transportation] network within the Cities of Santa Ana, Costa Mesa and
Irvine." However, the stated problems go far beyond the needs of these three cities. Section 1.3
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identifies five problems: (1) "Freeway and arterial congestion exceeds acceptable levels and will
continue;" (2) "Highway and arterial capacity improvements are feasible but difficult to
implement;" (3) "Existing transit system is affected by highway congestion;" (4) "Existing
transit serves competing demands;" and (5) "Population and employment in the area will
continue to grow, increasing demand for alternative means of transportation." For any segment
in the County of Orange including the three cities but also the City of Newport Beach, these
statements are true. This Document should focus on the needs of the particular area, e.g. the
three cities, and state why these cities should receive this special benefit. Indeed,
Section 1.5.2 addresses the Planning Context for the Project. Section 1.5.2.1 discusses the
Regional Setting for the Project. Although identifying several settings including John Wayne
Airport and University of California, Irvine, the Document fails to discuss at all the City of
Newport Beach, area beaches to which the Project may bring additional visitors, San Diego
Creek and the Upper Newport Bay. The Agencies should revise, supplement or otherwise
correct the Document to discuss specifically the Project's impacts on the City, the Airport and
the City's resources including San Diego Creek and the Upper Newport Bay.
Section 1.5.2.3 discusses "Transportation System and Travel Trends." This section
discusses much of the transportation system for the County but fails to focus on the Project area.
Moreover, this section discusses Bus Transit. However, the sub - section which addresses Bus
Transit fails to discuss the nature and fuel type for OCTA buses. In particular, it fails to address
any OCTA buses with alternative fuels.
IV. Section 2: The Proieet Alternatives and the Need for Specificity.
Although the First SDEIS /RDEIR discussed the Locally Preferred Alternatives ( "LPA ")
and a Minimum Operable Segments ( "MOS "), the Second SDEIS /RDEIR fails to discuss the
MOS. Apparently, the Project is less than the original MOS. The Document should be revised
to explain this difference and to discuss why a smaller MOS is really a viable operable segment.
Also, the Document states that, although the planning area is smaller and the Project
covers much less area, the "No -Build Alternative is the same as the No -Build Alternative
analyzed in the 1999 DEIS /DEIR and the 2000 SDEIR/RDEIR." Given the smaller area, the No-
Build Alternative must be smaller.
However, Alternatives discussion in the SDEIS /RDEIR fails for several reasons. First,
the environmental analysis in the Document does not contain enough information and specifics
to compare the potential impacts of the three new alignments and the three original alignments as
well as a the impacts of the various MOS Alternatives. This problem is significant: if
Alternatives —both the alignments and the MOS --lack specifics, neither the public nor the
decisiomnakers can determine the extent of the impacts and the nature and extent of the proposed
mitigation.
Further, not only is the impacts discussion at a general level but the proposed mitigation
floats at a similar abstract level. CEQA does not require "floating mitigation" but real
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mitigation. However, because of the impacts discussion remains at a general level, the proposed
mitigation suffers.
However, unlike the First SDEIS /RDEIR which failed to discuss which alignment
Alternative and which MOS Alternative would be the environmentally superior alternative, the
Second SDEIS/RDEIR admits that the No Build Alternative is the environmentally superior
alternative. The Second SDEIS /RDEIR fails to take the logical step: certifying the
environmentally superior alternative: the No -Build Alternative.
V. Section 3.0: Trans nortation: Parking, Roadway Impacts and Airport Impacts?
Section 3.0 of the Document attempts to address Transportation Impacts: impacts on
transit service and ridership; roadway network impacts and parking impacts. However, this
section fails to address transportation impacts to an important transportation feature adjacent to
the City: John Wayne Airport.
The Project will transport many passengers to and from the Airport and this increase will
affect the Airport and its flight scheduling. Yet the Document contains no discussion at all of
this impact or any proposed mitigation. The Agencies must again revise the Document to
include a detailed discussion of this transportation and impact, and provide specific mitigation
for any such impact. Indeed, any impact to the Airport will affect the City. Hence, any airport
mitigation must include mitigation for the City.
The impacts analysis for transportation raises several problems. First, for all build
alternatives, the Project would require dividing existing communities, eliminating through traffic
and creating cul -de -sacs at "minor intersections along Bristol Street." Although the Document
recognizes that this circulation impact will affect all neighborhoods in which cul -de -sacs are
installed, it fails to appreciate the nature and extent of the impact. The Document actually
maintains that such interruptions and division "would be offset by the reduction in conflict
potential realized at their intersections with Bristol Street" and "these cul -de -sacs may add to
safety and security of their neighborhoods by substantially reducing the flow of traffic on their
streets." SDEIS /RDEIR at 3 -15 (emphasis added).
This optimistic analysis falls far short of the realistic analysis required by CEQA.
Although significant traffic impacts, e.g. substantial reduction in traffic flow, may have ancillary
benefits, those benefits cannot erase the impact. The Document should be revised to avoid an
overly optimistic assessment of traffic impacts and provide an appropriate level of analysis for
such impacts with appropriate mitigation if necessary.
In addition, the impacts analysis for parking resources creates an even worse problem:
For all build alternatives, the Project would result in the removal of substantial on and off street
parking with many potentially significant impacts left unmitigated. The Project alignment is
street level for all build alternatives throughout most of their reaches. This street level alignment
will result in the loss of on- street as well as off - street parking. In the truncated planning area,
parking resources are already compromised; further losses will exacerbate the existing problem.
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The Document recognizes these impacts. For on- street parking, the Project will result in
the loss of approximately 230 spaces. The Document proposes to mitigate such impact by
creating additional parking in surplus right of way, propose additional parking in Project related
structures, and acquire additional property if necessary. However, the Document fails to discuss
whether or not there will be sufficient surplus property for such uses or surplus Project parking
for such uses, and whether or not additional lands are available for purchase.
This last— no lands for purchase— affects the off - street parking resources more severely.
Section 3.3 recognizes that the Project may create significant impacts for off - street parking
resources including resources in and around John Wayne Airport. Although this section
maintains that ample property remains in the area of John Wayne Airport for purchase, Section
3.4 which discusses mitigation measures indicates that "(Because adequate land may not be
available to provide replacement parking at each location, a potentially significant impact would
remain." That is, after mitigation, the Project will still create significant and unmitigated
impacts.
Alternatives to this finding are surely available. For instance, create substantial parking
structures in the affected areas; condemn additional lands for such purposes; or create a
bussing /parking plan for such areas. Of course, such mitigation may itself have significant
impacts.
Further, although the Project will surely affect traffic in the vicinity of the City of
Newport Beach, e.g. traffic to and from the University of California, Irvine, and traffic to and
from John Wayne Airport, the impacts analysis addresses only one intersection near the City of
Newport Beach and no intersections within the City of Newport Beach. Clearly, the Document
should be revised to address Project related impacts to the intersections of Campus Drive and
Jamboree, Campus and" Von Karman, and Campus and Macarthur, as well as University and
Jamboree.
Finally, as with the First SDEIS /RDEIR, the Document dips in and out of specifics and
soars in generality: in order to satisfy its disclosure obligations and its informational
requirements, the Document must deal in specifics. CEQA does not sanction the promise of later
specifics. The Agencies should revise the Document to either include specifics or tread at a
general programatic level.
VI. Section 4.1: Land Use Impacts (Don't Forget Newport Beach and JWA).
The Document varies the area of analysis depending upon the result of the analysis: as
discussed above and as indicated in the Document, the Second SDEIS /RDEIR's transportation
analysis restricts the area to the large area from state highways to state highways. The land use
analysis considers only land use in the Three Cities. This analysis fails to include the impacts
on land use in and around the University of California, Irvine and /or the City of Newport Beach.
Further, the Document indicates that the setting includes sensitive habitat along the Upper
Newport Bay including the San Joaquin Wildlife Sanctuary and importantly the Irvine Business
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Complex ( "IBC "). We ask: shouldn't the City of Irvine bear the land use and transportation
costs of its significant expansion of the IBC.
Further, the Document states the applicable land use documents are the Three Cities'
General Plans, UCI's Master Plan, JWA's Master Plan, and, surprisingly, the City of Orange.
What about the City of Newport Beach which borders both the Cities of Costa Mesa and Irvine?
Also, the City of Newport Beach borders the destinations of the Project: UCI and JWA. What
are the Project related impacts to land use in the City of Newport Beach.
The Document should include a discussion of the land use requirements for the City of
Newport Beach which is adjacent to JWA, the Cities of Irvine and Costa Mesa and JWA. The
City of Orange is important to this process but so is the City of Newport Beach.
Importantly, the JWA Settlement Agreement applies here. The Agencies should consult
and review the settlement agreement, discuss it in the Revised Document and provide any
necessary mitigation.
.Further, Section 4.3.1 states that the land use analysis includes a policy analysis to
determine the consistency of the alternatives with relevant land use plans. However, we question
whether the DEISIRDEIR can provide any policy analysis: Policy analysis is for decisionmakers,
not staff or consultants.
Finally and noting the Document's unique "Policy Analysis," the Document is
inconsistent. The "Executive Summary" indicates that the Project and its associated properties
and attributes are inconsistent with the the City of Irvine's General Plan. However, Section 4.1.3
appears to indicate that the Project is consistent with the Three Cities' General Plan. However,
this is incorrect: the City of Irvine's General Plan and zoning ordinance recognize the importance
of San Diego Creek. The Project may create significant impact in this area. The Project
threatens to create significant impacts in this area even with mitigation.
The Document should be revised to resolve the inconsistencies recognized above and
provide necessary mitigation for any Project related impacts.
VII. Section 4.2: Neighborhood Impacts.
The Document recognizes that the Project with its tracks, parking facilities, and other
related facilities will affect neighborhoods. However, because of various alleged Project benefits
and other features, the Document concludes that Project will not generate any significant impacts
on neighborhoods in the vicinity of the Project.
However, each Build alternative will divide existing neighborhoods with Project tracks
and other facilities. The Document should analyze such impacts and not merely assume that no
impacts exist.
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Further, each Build alternative will result in displacement of residential and commercial
units. The Project will significantly affect the commercial units. Section 4.2.4.2 recognizes that
the Project will result in significant and unmitigated impacts on commercial elements in
various neighborhoods through which Build Alternative 1 travels. In addition, Sections 4.2.4.3,
4.2.4.4 and 4.2.4.5 recognize that all other Build alternatives result in similar and unmitigated
impacts on commercial units in each of the Build alternatives.
Such displacement is merely a policy choice, an improper policy choice made by the
Document. The Document should be revised to include additional alternatives which will not
have such impacts on commercial units. It may be that the Project will have significant and
unmitigated impacts on neighborhoods regardless of the alignment. The Agencies should
recognize this and make the policy choice themselves about which type and which specific
neighborhoods are affected.
More importantly, the analysis for Project related impacts on neighborhoods is too
narrow: it fails to analyze the impacts on various communities including the various cities in the
vicinity of the Project. The Document should be revised to include a regional analysis of
neighborhood impacts.
VIII. Section 4.10: Air Quality Impacts and Benefits?
Section 4.10.3 concludes that all Build Alternatives would reduce harmful emissions due
to reductions on automobile and bus trips. However, as to bus trips, the Document's analysis is
incorrect: various buses in OCTA's fleet have substantially reduced emissions. The Document
should be revised to discuss the appropriate mix of buses in OCTA's inventory.
IX. Noise and Vibration: What about San Diego Creek, San Joaquin Marsh and the
Upper Newport Bav, Round II?
Round I included our comments on the First SDEIS /RDEIR. This Section incorporates
those comments. In addition, we offer the following comments:
As with the First SDEIS/RDEIR, although the Document recognizes that the Project will
generate significant noise impacts for all Build Alternatives which impacts require mitigation in
the form of sound walls, the Document contains no discussion of noise impacts on adjacent
areas including areas in and around the City of Newport Beach such as the San Joaquin Marsh.
Although this resource is not located within the City of Newport Beach, it forms part of the
Newport Bay ecosystem. The Upper Newport Bay Ecological Reserve is a regionally significant
natural resource located within Newport Beach. The Document should address any potential
impacts to .habitat in the San Joaquin marsh and any indirect impacts to Upper Newport Bay.
Following identification of the impacts to these sensitive resources, the Document should
propose mitigation including installation of a sound wall for such mitigation.
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VII. Section 414• Water Resources Impacts: What about SD Creels, SJ Marsh, and
Upper Newport Bay, Round II.
As with the First SDEIS /RDEIR, the Document's vision of water resources in the vicinity
of the Project is myopic: Section 4.14 addresses only water resources within the Three Cities.
The Document recognizes that the Project is in the vicinity of San Diego Creek, San Joaquin
Marsh and the Upper Newport Bay. However, the Document fails to address any significant
impacts on these resources.
As indicated above, the Document lacks specifics about many Project features including
parking and Project access. Given the lack of specificity with respect to parking and access to
the Project and its stations, the Document cannot address the impact of impervious surfaces on
drainage and groundwater. Nonetheless, without quantifying the extent of such impervious
surfaces, the Document concludes that the amount of impervious surfaces related to the Project
would not affect drainage or groundwater recharge. The Agencies should address the impacts of
the impervious surfaces and propose appropriate mitigation.
Further, Build Alternative 2 includes subterranean. features. The Document notes that,
due to such features, the Project may be subject to inundation from groundwater. Section
4.14.4.1 indicates that mitigation for this impact may include either discharges to sewage
facilities or surface water discharges which will require permitting by various regulatory entities.
This Section impermissibly defers this mitigation requirement: for sewage facilities discharges,
the Document should be revised to discuss the capacity of such facilities to ensure that the waste
water facilities have the capacity for such discharges. As to surface water discharges, the
Document should be revised to discuss mitigation and features for obtaining permits for such
discharges.
VIII. Section 415• Natural Resource Impacts: What about SD Creek, SJ Marsh, and
Upper Newport Bay, Round III.
The Upper Newport Bay Ecological Reserve is a regionally significant natural resource
located within the City of Newport Beach. None of the Build Alternatives are located within the
City. Although the Document attempts to analyze impacts to natural resources upstream from
the City, the Document fails to consider the extent of such impacts and fails to trace the
downstream impacts for any such upstream impacts. In particular, the Project has the potential
to affect the San Joaquin Marsh and Newport Bay.
Section 4.15.2 states that the Agencies caused two biological surveys to be conducted for
the Document and the Project. These studies occurred during the spring of 2003. However, the
Document fails to discuss whether surveys at other times for other species would be appropriate
and whether existing resource literature indicates whether any other such surveys are necessary.
The Document should be revised to include such a discussion, if necessary, propose and conduct
additional studies and surveys, and propose any necessary mitigation.
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In addition, for each Build Alternative, the Project may create potentially significant
impacts in and around San Diego Creek due to (1) place of Project columns in areas of protected
habitat and species, and (2) shadows created by the Project as it passes over San Diego Creek.
Section 4.15.4 discusses mitigation measures for such impacts. For impacts related to column
placement, Section 4.15.4 indicates the Agencies will attempt to place columns so as to avoid
any such impacts. However, where such impacts are necessary, Section 4.15.4 promises 1:1
mitigation with replacement of habitat and/or species in off-site areas.
As to shadows which may affect habitat for sensitive species and /or the species
themselves, Section 4.15.4 promises replacement 1:1 mitigation. However, this analysis is
inadequate: the shadows may create impacts including creating the potential for an environment
for invasive species. The Document should be revised to discuss this potentially significant
impact.
The Document states that construction impacts will affect natural resources including the
riparian habitat along all Alternatives. The Agencies should revise the Document to include a
mitigation measure to require surveys for sensitive plant species be conducted prior to-start of
construction.
As indicated below, Section 4.17 addresses Project related impacts relating to
electromagnetic fields ("EM]"'). Although Section 4.17 recognizes potential impacts to various
"receptors," the Section fails to discuss impacts on biological resources. Section 4.15 also fails
to discuss this issue. The Document should be revised to discuss, analyze and, if necessary,
provide necessary mitigation.
Finally, as indicated above, the Document fails to consider any of the Alternatives'
downstream impacts of the City's sensitive resources including the Bay and San Diego Creek.
The Agencies should revise the Document to include discussion and analysis of these
downstream impacts as well as propose adequate mitigation.
IX. Section 4.17: EMF and Impacts.
As indicated above, Section 4.17 fails to address biological receptors in the EMF
analysis. The First SDEIS/RDEIR recognized that EMF may affect biological resources, but
noted that such impacts are "uncertain." The Agencies should revise the Document to include a
discussion of such impacts and if necessary mitigation.
Second, the Document identifies several facilities and equipment locations which may be
potentially affected by the Project's EMF. However, the Document fails to consider the EMF
impacts in connection with the John Wayne Airport. The Agencies should revise the Document
to include a discussion of such impacts and any proposed mitigation. The Document should be
revised to include an analysis of such impacts and a discussion of any necessary mitigation.
X. Section 4.18: Recreation, Bike Trails and Sensitive Resources.
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As we indicated in our earlier comments, the City has important recreational resources on
which the Project and its Alternative may have significant impacts. First, as noted above, the
Doctunent focuses solely on upstream impacts and ignores any impacts downstream in the
Newport Bay and beyond. The Agencies should revise the Document to discuss these
downstream impacts on recreation including boating and other water related activities in the
Newport Bay.
Further, although the Second SDEIS /RDEIR recognizes that the Project and its
Alternatives may also affect the City's recreational resource of the bicycle trail located adjacent
to San Diego Creek, the Document fails to appreciate the significance of this impact. The
Document merely states that the Project may visually affect these recreational resources; the
Document discusses the shade created by the Project. However, the Document concludes that,
without discussion, the Project will not create significant impacts. However, this conclusion
does not satisfy the requirements for CEQA analysis. The Agencies should revise the Document
to discuss this potentially significant impact and, if necessary, propose any appropriate
mitigation measures.
Although First SDEIS /RDEIR recognized in the Section 4.18 on Recreation that
construction impacts of the Project would affect recreational resources including closing the trail
system along San Diego Creek and require reconstruction of the crossing in order to re -open the
system, the Second SDEIS/RDEIR fails to discuss clearly such impacts and provide for
necessary mitigation in Section 4.18. Moreover, Section 4.21's discussion of such impacts is
inadequate: it merely concludes that the closure and reconstruction are not significant impacts.
The Document should be revised to discuss such impacts clearly and in the appropriate section
and provide any necessary mitigation.
Further, the Document fails to describe in a clear and understandable fashion the potential
impacts on the San Joaquin Marsh. The Document states that Project's proximity to the San
Joaquin Marsh will not result in any impacts on this recreational resource. However, the
Document contains no discussion of this resource or its recreation value. Further, the Document
fails to consider or discuss the Project's noise levels and the distance from the Project to the
recreational resource. Without this information, the Document cannot serve to inform the public
or enable decision - makers to assess whether the construction and operation of the project will
result in significant impacts to this recreational resource.
Further, to the extent that the Project and any of its Alternatives will bring passengers to
the coastline or the beaches, the Document should address the impacts of this increased
passenger load on the area transportation system and on the recreational resource.
The Agencies should revise the Document to include additional information and analysis
on potentially significant short term impacts ( i.e., air, noise, restricted access during
construction) that could affect the City's and the region's recreational resources including
impacts on the bike trail system and the San Joaquin Marsh. Further, the Agencies should bring
the Document back from the stratosphere of general impacts and mitigation, and provide specific
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discussion of impacts, address the agency responsible for implementing and enforcing mitigation
measures and who if any agency is responsible for any such oversight.
XI. Section 4.19: Construction Impacts and Related Downstream Impacts.
The Document attempts to address construction impacts on each resource or activity. As
discussed above, the Document fails to recognize that the Project may have impacts on John
Wayne Airport and upon sensitive resources within the City. For instance, as to construction
impacts on Transportation activities, the Document attempts to address impacts on traffic
operations. However, the Document fails to address any impacts on the operation or facilities
which serve the Airport. The Agencies should revise the Document to address construction
impacts in connection with the Airport.
XIL Section 4.22: "Summary of Impacts" aka Cumulative Impacts?
Although Section 4.22 is entitled "Summary of Impacts," it attempts to address
cumulative impacts. The CEQA guidelines regard the cumulative impacts analysis as a
mandatory finding. Cumulative impacts analysis is not a summary of impacts: it is the analysis
of the Project's impacts in relation to other projects and other considerations. However, Section
4.22 fails to discuss any such impacts fully.
For instance, Section 4.22.1.3 attempts to discuss the Project's cumulative impacts in
relation to the City of Irvine. The City of Irvine has proposed substantial changes to the Irvine
Business Complex and contemplates substantial development in this area which is adjacent to the
City of Nevport Beach. Although the Document recognizes and attempts to address the IBC, the
cumulative impacts analysis fails to discuss the IBC and the cumulative impacts of the Project.
Section 4.22.1.4 concludes that the Project will not contribute adversely to cumulative
impacts. Among other things, this section states that the Project will not "use natural or non-
renewable resources in a wasteful or inefficient manner." However, the Document fails to
explain the basis for this value judgment. Moreover, Section 4.22.5 recognizes that the
construction of the Project will result in consumption of fuel and construction materials. The
Document should be revised to explain this inconsistency.
Finally and importantly, Section 4.22.6 recognizes that the No -Build Alternative is the
environmentally superior alternative. The Agencies should consider this alternative carefully
before choosing any of the Build Alternatives.
Further, the Document fails to evaluate and analyze the cumulative impacts of the Project
and its Alternatives on housing and services. For instance, the cost of housing within the
Corridor is high. The Project may decrease property values and thereby result in a concentration
of high density, lower income housing will concentrate along the new transportation corridor.
The demand for services will grow. The Agencies should revise the Document to address the
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cumulative impacts of the Project and its Alternatives on housing and services, and propose
necessary mitigation.
XIII. Conclusion:
The Document is lengthy and not generally available. For these reasons alone, the
Agencies should recirculate the Document and continue any hearing on the Second
SDEIS /RDEIR. More importantly, the Document has significant and important content
problems which must be addressed before the Document can be certified. Finally, we note that
the No -Build Alternative remains the environmentally superior alternative. Given that the
Project benefits only a portion of the residents of the County of Orange and will have
unmitigated significant impacts, the Agencies should either revise the Document again or not
certify the Document.