HomeMy WebLinkAboutS22 - Effluent Pump Station Annex & Collection System Odor & Corrosion Control ProgramHearing Date:
Agenda Item
No.:
Staff Person:
REPORT TO THE MAYOR AND CITY COUNCIL
August 27, 2002
S22
Sharon Z. Wood
(949) 644 -3222
SUBJECT: Comments on Draft Supplemental to the 1999 Strategic Plan EIR for
the Effluent Pump Station Annex and Collection System Odor and
Corrosion Control Program
SUGGESTED
ACTION: Approve and direct staff to transmit comments prepared by the
Environmental Quality Affairs Committee
The Environmental Quality Affairs Committee (EQAC) reviewed the Draft Supplemental EIR
prepared for the subject Orange County Sanitation District project at their meeting of August 19,
2002. The comments in the attached memorandum were approved by EQAC. The City Council
Resolution establishing EQAC provides that the City Council approve EQAC's comments on
environmental documents prepared for projects outside of Newport Beach, when time allows. In
this case, the comment period ends on September 6, 2002.
SHARON Z. WOOD
Assistant City Manager
CITY OF NEWPORT BEACH
O4,aEW ^T
COMMUNITY AND ECONOMIC
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DEVELOPMENT
PLANNING DEPARTMENT
3300 NEWPORT BOULEVARD
NEWPORT BEACH, CA 92658
(949) 644 -3200; FAX (949) 644 -3250
Hearing Date:
Agenda Item
No.:
Staff Person:
REPORT TO THE MAYOR AND CITY COUNCIL
August 27, 2002
S22
Sharon Z. Wood
(949) 644 -3222
SUBJECT: Comments on Draft Supplemental to the 1999 Strategic Plan EIR for
the Effluent Pump Station Annex and Collection System Odor and
Corrosion Control Program
SUGGESTED
ACTION: Approve and direct staff to transmit comments prepared by the
Environmental Quality Affairs Committee
The Environmental Quality Affairs Committee (EQAC) reviewed the Draft Supplemental EIR
prepared for the subject Orange County Sanitation District project at their meeting of August 19,
2002. The comments in the attached memorandum were approved by EQAC. The City Council
Resolution establishing EQAC provides that the City Council approve EQAC's comments on
environmental documents prepared for projects outside of Newport Beach, when time allows. In
this case, the comment period ends on September 6, 2002.
SHARON Z. WOOD
Assistant City Manager
MEMORANDUM
To: Mayor Tod Ridgeway and Members of the City Council
City of Newport Beach
Cc: Homer Bludau, City Manager
From: Environmental Quality Affairs Citizen's Advisory Committee ( "EQAC ")
City of Newport Beach
Subject: Orange County Sanitation District Draft Supplement to the 1999
Strategic Plan Environmental Impact Report for the Effluent Pump
Station Annex and Collection System Odor and Corrosion Control
Program (the "Project ")
Date: August 20, 2002
Thank you for the opportunity to provide these comments on the Supplement
Draft Environmental Impact Report ( "SDEIR ") for the above - referenced Project prepared
by the Orange County Sanitation District ( "District'). Based on the review of the
document, EQAC's comments are as follows:
I. Project Description
The SDEIR addresses the impacts associated with two projects proposed by the
District. The District proposes the construction of Effluent Pump Station Annex
( "EPSA "), which is located at Treatment Plant No. 2 in the City of Huntington Beach
along the Santa Ana River near Pacific Coast Highway. Treatment Plant No. 2 is visible
from the City of Newport Beach. The proposed EPSA will provide backup pump
capacity for the District's Ocean Outfall Booster Station ( "OOBS'). The Project includes
replacing the current back up capacity from the Foster Pump Station ( "FPS') and
demolishing the FPS.
In addition, the District proposes to implement an odor control system known as
the Odor and Corrosion Control Program ( "OCP "). There are currently eight OCP sites
at various locations throughout the District's collection system. These sites have been
part of a pilot study, and the District proposes to make them permanent, with the
possibility of adding new sites in the future.
II. Air Ouality
We have no comments on the substance of the air quality analysis; however, there
seems to be an error on page 3.1 -9. The second paragraph states "Construction
Mayor Tod Ridgeway
Members of the City Council
City of Newport Beach
Page 2
August 20, 2002
emissions would be considered a significant unavoidable impact to air quality." This
statement is inconsistent with the remaining discussion on air quality, and should be
corrected.
III. Aesthetics
The project description states that additional OCP storage tank locations may be
needed in the future. These tanks may be as a large as twelve (12) feet in diameter and
sixteen (16) feet in height. Proposed Mitigation Measure 3.2 -2 states that such tanks
will be placed out of public view to the extent feasible, and Mitigation Measure 3.2 -3
states that the Sanitation District will coordinate with cities prior to installation of any
new tanks. These two measures should be strengthened by replacing the M.M 3.2 -2
phrase "to the extent feasible" with "to the satisfaction of the city in which the proposed
tank is to be located."
IV. Geology
The SDEIR recognizes several significant geologic limitations and restrictions, as
well as potentially significant impacts from the Project. However, as discussed below,
the SDEIR fails to recognize additional potentially significant impacts which may result
from the Project which require additional analysis and possibly mitigation. Among other
things, these include the significant forty (40') feet of excavation in an area which is
subject to subsidence and groundwater intrusion.
The SDEIR acknowledges that the Project site is, or may be, located in an area
with expansive soils and may be subject to settlement, subsidence, and liquefaction.
However, the Project includes significant construction in such areas, including the
proposed EPSA, which will provide backup pump capacity for the District's OOBS.
The EPSA has several features which could create significant Project - related
impacts on the geology of the area: (1) the Pump Building consumes 4,600 square feet
and is forty (40') feet tall; (2) the Distribution Center will cover over 5,400 square feet
and will be thirty (30') feet high; (3) the Standby Power Facility will be approximately
7,800 square feet and will be approximately twenty -six (26') feet high; and (4) in order to
accommodate some of these structures, the Project site will require substantial excavation
at least forty (40') feet below existing grade.
The Project site is adjacent to the ocean and in an area of expansive soils and peat
bogs. The SDEIR recognizes that high groundwater is present at the Project site.
As indicated above, the SDEIR addresses two potentially significant impacts: (1)
the Project could expose people and structures to earthquakes and ground failure,
including liquefaction; and (2) the Project could be located on expansive soils.
Mayor Tod Ridgeway
Members of the City Council
City of Newport Beach
Page 3
August 20, 2002
As to the first, ground stability, the SDEIR proposes to conduct geotechnical
studies and provide appropriate mitigation. However, the District's promise and deferral
on the mitigation of the potentially significant geologic impacts fails to satisfy CEQA's
requirements. `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 Bozuniz 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 measures must really minimize the impact. The only way to
accomplish this and satisfy the disclosure and analytic requirements of the SDEIR is to
require the District to conduct the studies and propose the mitigation measures in a
revised SDEIR.
With respect to the issue of expansive soils, again, the District proposes to study
and delay proposal of the exact nature and extent of the mitigation. As indicated above,
the District should provide this analysis and the proposal in a revised SDEIR.
In addition, the SDEIR fails to recognize or analyze the relation of the high
groundwater to the geologic resources and the potential for soil instability. The revised
SDEIR should provide a clear analysis of the Project with its substantial excavation on
the peat bogs and the high groundwater. The Project may require substantial mitigation
to limit impacts on these geologic features of the site.
V. Hydrology
The Project site is next to the Santa Ana River and in an area of high
groundwater. The SDEIR acknowledges these site characteristics, as well as the potential
for flooding at the site.
The SDEIR recognizes three areas of potentially significant impacts and proposes
three mitigation measures which will lower these impacts to acceptable levels. First, the
SDEIR recognizes that, with the high groundwater and substantial excavation, as well as
storm water inflows, the Project may violate water quality standards or waste discharge
requirements, including substantial dewatering efforts. The SDEIR proposes to mitigate
this impact by preparing a Storm Water Pollution Prevention Plan. However, the SDEIR
does not contain such a plan or even address the constituents of such a plan. As indicated
above, this impermissibly defers mitigation. Moreover, in order to assess fully the nature
and extent of the mitigation, a revised SDEIR must discuss the outlines of such a plan
and discuss important aspects which relate to the Project.
Mayor Tod Ridgeway
Members of the City Council
City of Newport Beach
Page 4
August 20, 2002
Second, the SDEIR acknowledges that the Project will likely alter drainage on the
Project site. However, the SDEIR notes that either drainage is intercepted by the storm
drain and directed into the District's system, or it is directed off -site. This ignores the
substantial excavation of the Project: the forty (40') foot excavation will likely act as a
reservoir for which the existing drainage system will not work, at least during
construction. The District should prepare a revised SDEIR to address such impacts and
provide mitigation of those impacts.
Third, the SDEIR recognizes that the Project may be susceptible to flooding and
proposes upgrading facilities to prevent inundation from the Santa Ana River. However,
this analysis ignores the potential for onsite flooding due to the excavation. The District
should prepare a revised SDEIR to address the potential for onsite flooding including
onsite flooding during construction and provide appropriate mitigation measures.
VI. Traffic
The Project Description notes that approximately 30,000 cubic yards of soil will
be removed from the site as a result of excavation during construction, and that the
removal of the soil will require approximately 1,500 round -trip truck trips. In addition,
the Project Description states that "approximately 1.5 acres of the existing site will be
graded and designed to generally match existing grades." It is unclear whether the
grading of the 1.5 acres will require additional removal of soil from the site. Mitigation
measure M -3.7 -1 states that dirt haul trucks will avoid peak traffic periods; however, the
SDEIR should identify the routes to be taken by the haul trucks and ensure that no routes
are located within the City of Newport Beach.
VII. Recommendation
We recommend that the District reconsider the SDEIR, revise the document to
address the Project's impacts in connection with the issues discussed above, and
recirculate the document for public comment.