HomeMy WebLinkAbout14 - Irvine Business Complex & Scholle Project EIRCITY OF NEWPORT BEACH
CITY COUNCIL STAFF REPORT
Agenda Item No. 14
January 13, 2004
TO: HONORABLE MAYOR AND MEMBERS OF THE CITY COUNCIL
FROM: Tamara Campbell, AICP
Senior Planner
(949) 644 -3238
tampbell@city.newport- beach.ca.us
SUBJECT: Comments on Environmental Review for Proposed Scholle Project
(Jamboree Road and Fairchild Road) and Other Previously
Approved Projects in the Irvine Business Complex
ISSUE:
Should the City of Newport Beach comment on the environmental review for a proposed
development in the City of Irvine and potential cumulative impacts of previously
approved projects in the Irvine Business Complex?
RECOMMENDATIONS:
1. Direct staff to transmit comments prepared by EQAC to the City of Irvine.
2. Direct staff to make additional comments on the revised traffic study and other
studies that may become available prior to public hearings.
DISCUSSION:
In July 2003, Newport Beach and Irvine staff met to discuss recent and proposed
development in the Irvine Business Complex (IBC), and how the City of Irvine is
complying with the California Environmental Quality Act (CEQA) on these projects. We
learned that Irvine has been relying on the program environmental impact report (EIR)
prepared for the rezoning of IBC in 1992, and preparing addenda to that EIR for projects
that involve transfer of development credits or conversion of office to residential
entitlement, as long as the projects are within the "trip budget" established in the 1992
Program EIR.
An addendum to an already certified EIR does not require circulation for public review
and comment, which left Newport Beach unaware of Irvine's development approvals in
Comments from EQAC regarding the Scholle Project and Other
Previously Approved Projects in the Irvine Business Complex
January 13, 2004
Page 2
IBC. After our meeting with Irvine staff, we requested information on projects previously
approved with addenda to the 1992 Program EIR, and to be notified of new projects as
they are undergoing development review.
The first pending IBC project for which we received early notification and an opportunity
to review and comment on the traffic study is the Scholle development. This project
includes 425,000 square feet of office space, a 7,500 square -foot restaurant and a
54,000 square -foot health club. The project site is at 19000 Jamboree Road, near
Fairchild Road. A Conditional Use Permit, a Tentative Parcel Map and the Transfer of
Development Rights will be necessary for project approval.
In September we received a draft traffic study for the Scholle project, and Newport
Beach staff met again with Irvine staff to discuss this study, as well as other recent
approvals in the Irvine Business Complex. Based on information received at that
meeting, staff grew concerned with potential traffic and other cumulative impacts
associated with recently approved projects. Staff reports, environmental documents
and the IBC Program EIR were obtained for further study. Newport Beach staff
submitted comments to Irvine in September, and supplemented them with review by an
independent traffic consultant in November. Both sets of comments are attached, and
revisions to the traffic study are currently underway.
On October 14 the City Council requested that the Environmental Quality Affairs
Committee (EQAC) review the environmental documentation for recent and proposed
projects in IBC. EQAC appointed a subcommittee at their November meeting, and this
group began reviewing the volumes of documents received from the City of Irvine.
EQAC met on December 16 and discussed the Scholle project along with projects
approved and /or considered within the last few years. The full Committee approved a
summary of concerns prepared by the subcommittee and recommended that the City
Council submit these comments to the City of Irvine.
A copy of the summary, reformatted as a letter from Mayor Ridgeway, is attached to this
report. EQAC is recommending that the City Council request that the City of Irvine
prepare a new EIR for the Scholle project. A new EIR is required to analyze potential
impacts of this project along with the cumulative impacts of previously approved
projects. The Scholle project and most of the previous ones transfer development
credits from sites on the north side to sites on the south side of 1-405. In the case of the
Scholle project, the receiving site is adjacent to our City boundaries. Both EQAC and
staff believe that the 1992 Program EIR did not address potential impacts of this
development on Newport Beach, especially traffic impacts. EQAC's review of the
environmental documents showed that the circulation system improvements included as
mitigation measures in the 1992 Program EIR were proposed for the area north of
1 -405, while we are now seeing development drift to the area south of that freeway.
Moreover, the traffic study for the Scholle project initially did not include important
intersections south of the project site in Newport Beach. Staff appreciates the work that 0
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Comments from EQAC regarding the Scholle Project and Other
Previously Approved Projects in the Irvine Business Complex
January 13, 2004
Page 3
EQAC did in a very short period of time; we agree with their comments and recommend
that they be transmitted to the City of Irvine as written.
In addition, staff is asking for the City Council's direction to make additional comments
on studies that may become available prior to Irvine's public hearings on the Scholle
project. Although we have not received the revised traffic study or the addendum to the
Program EIR for the Scholle study, we have been advised that these reports may be
released in mid - January and considered at Irvine's Traffic and Infrastructure
Commission meeting on January 26, 2004. This would give us only a few days to
review these documents, and would not allow for City Council review of our comments.
Prepared by:
Tamara Campbell, ICP
Senior Planner
Submitted by:
Sharon Wood
Assistant City Manager
Attachments: Comments on Traffic Study, September 30, 2003
Consultant ReJiew of Traffic Study, November 10, 2003
Draft Letter to Clcy of Irvine
CITY OF NEWPORT BEACH
PUBLIC WORKS DEPARTMENT •
3300 NEWPORT BLVD.
P.O. BOX 1768, NEWPORT BEACH, CA 92658 -8915
(949) 6443311
September 30, 2003
David Law
Associate Planner
City of Irvine
P.O. Box 19575
Irvine, CA 92623 -9575
Subject: Scholle Development Traffic Study
Dear Mr. Law:
The City of Newport Beach has completed an initial review of the Traffic Study for the
proposed Scholle Development project to be located at the corner of Jamboree Road and
Fairchild Road. This site is on the border between the two cities and the traffic impacts
of a project this size are of concern to Newport Beach. The impacts of the project on .
intersections and roadway links wholly or partially within the City of Newport Beach are
not adequately addressed by the study. The City of Newport Beach requests that no
discretionary approvals be given to the project until such time as we can more fully
review the Traffic Study and provide detailed comments for your consideration.
Our preliminary review has identified a number of major inadequacies in the Traffic
Study. Some of the most apparent ones are as follows:
1. The boundary of the study area needs to be extended sufficiently far to the south of the
Fairchild property to evaluate the impact of project traffic on the links and intersections
in this direction. Figure 30 of the Traffic Study indicates that 55% of the traffic from the
project will come from this direction, yet only six of the forty-nine intersections analyzed
are in the area south of the site.
2. A key component of the circulation system within the study area is incorrectly coded
into the model network for 2025 and later. The exhibits show a connector (JR -5) from
northbound Jamboree Road to the northbound SR 73 freeway. If this connector is
constructed, a new off -ramp from SR 73 will be required to replace the existing Birch
Street off -ramp. The proposed off -ramp will intersect Jamboree Road opposite Bristol
Street North. This off -ramp is not reflected in the study. The City is contemplating the
deletion of the JR -5 ramp and suggests that the 2025 and Post 2025 analyses include .
alternatives of with and without the JR -5 ramp and the associated off -ramp.
A
• 3. Freeway volumes and volume to capacity ratios are depicted on certain of the exhibits,
but they are never discussed in the report. It is requested that the study include a
discussion of the impacts of the project on both mainline and ramp volumes at
interchanges of both I -405 and SR 73 within an appropriate study boundary.
4. Intersections that are partially or wholly within the City of Newport Beach should be
analyzed using the City of Newport Beach Traffic Study methodology for the short range
time period. This methodology is detailed in Chapter 15.40 "Traffic Phasing Ordinance"
of the Newport Beach Municipal Code.
5. The study should provide detailed information on the various Trip Generation rates
used by the City of Irvine. It appears that there are at least three different rates that are
involved in this analysis; IBC rates for Transfer of Development Rights, ITAM model
rates and ITE driveway rates.
Due to the size of this project and its potential impacts on the City of Newport Beach, we
will be performing a more detailed review of the project and the various assumptions
used to perform the analysis. We expect to have additional specific comments as a result -
of this fuller review by the end of October 2003. We respectfully request the City of
Irvine to not schedule any discretionary actions on this project until we have provided
these additional comments.
1 0 Sincerely,
d 1 ��LtGQi�i�• Gtr
Richard M. Edmonston, P.E.
Transportation & Development Services Manager
0
CITY OF NEWPORT BEACH
PUBLIC WORKS DEPARTMENT
3300 NEWPORT BLVD. •
P.O. BOX 1768, NEWPORT BEACH, CA 92658 -8915
(949) 6443311
November 10, 2003
David Law
Associate Planner
City of Irvine
P.O. Box 19575
Irvine, CA 92623 -9575
Subject: Scholle Development Traffic Study
Dear Mr. Law:
This letter supplements my letter dated September 30, 2003 regarding the Traffic Study
for the proposed Scholle Development at the comer of Jamboree Road and Fairchild
Road. As previously indicated, the City of Newport Beach retained a consultant to
supplement staff s review of this document. •
The impacts of the project on intersections in Newport Beach cannot be determined based
upon the report as it stands. This information is necessary to determine if the project
impacts exceed our threshold and will require mitigations. '
The enclosed memo from Meyer, Mohaddes Associates, Inc. provides general and
specific comments regarding the Traffic Study. The City of Newport Beach respectfully
requests that you address each of these comments prior to any discretionary action on this
project.
Sincerely,
Richard M. Edmonston, P.E.
Transportation & Development Services Manager
Enclosure: MMA memo dated November 10, 2003.
•
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Meyer, MoWdesAssociates, tac.
An Rees Company
MEMORANDUM TO: Richard Edmonston
Transportation and Development Services Manager
City of Newport Beach
FROM: Lee Ward, Associate Vice President
Robert Olson, Senior Transportation Engineer
DATE: November 10, 2003
SUBJECT: Findings From the Traffic Study Review for the Scholle
Development Project; Newport Beach, California
The following presents a summary of our findings from the review of the Scholle Development
Traffic Impact Study prepared by Kimley -Hom and Associates (K -H), September 2003. The
review process included discussions with staff from the City of Newport Beach regarding
issues and concerns in and near the study area, staff at Urban Crossroads regarding the model
application and outputs, staff at K -H regarding the study assumptions, and staff at the OCTA
and TCA regarding current and future transportation system improvement plans and system
commitments.
The first section of the comments presents issues and concerns with the model assumptions and
methodologies used in the study, along with additional questions that still need to be identified
by the Consultant. The second section presents a list of apparent errors and omissions based on
the review of report and the accompanying technical appendix and areas where additional
clarifications should be provided.
ITAM Model Issues and Concerns
The model formats, assumptions, and data for the ITAM and NBTAM models were reviewed,
however model results were not compared, as the actual traffic volume output from the
NBTAM was not provided and the data for the ITAM model was only that presented in the
report. We sent a list of questions to Urban Crossroads for clarification on the operation and
assumptions used in the model. As of this writing, we had not received a direct response to
those questions. We have included the questions in the text below.
Model Land Use Assumptions
Due to the proximity of the Scholle Site to the City of Newport Beach, the land use /socio-
economic assumptions used in the ITAM model should be compared with the NBTAM land
use assumptions for consistency and accuracy between the two models. In lieu of land use
n
Richard Edmonston
November 10, 2003
Page 2 of 14
comparison, trip generation results should be compared between the two models for the traffic
analysis zones (TAZs) within the City of Newport Beach. While the amount of land use to be
transferred in the model was based on transferring an equal number of trips from the sending
sites to the receiving sites, the combination of land uses was based on the IBC trip generation
rates. What is unclear is whether this mix of land uses generates an equal number of trips (sent
versus received) in the ITAM. This needs to be verified from the model outputs. The
Consultant needs to verify whether the number of trips sent from TAZ 404 and 441 in the
ITAM equal the number of trips received at TAZ 546? If not, what is the difference and why?
Network Assumptions
Since accuracy of roadway network plays a critical role in the Travel Demand Forecasting
(TDF) models, the roadway networks for 2007, 2025 and Post 2025 within the City of
Newport Beach should be consistent with roadway assumptions within the City of Irvine.
As stated in the report, the roadway networks within the City of Irvine are based on committed
improvements assumed in the City of Irvine Circulation Plan. Hence the City of Newport
Beach Circulation Plan should be used for developing the roadway networks for 2007, 2025
and Post 2025 within the City of Newport Beach. In addition, if some roadway segment
attributes such as speed or capacity were adjusted during the NBTAM calibration or validation,
they should be carried over to ITAM model for purpose of this study.
Trip Distribution
Trip distribution links the trip productions in the region with the trip attractions to cieate inter-
zonal and intra -zonal travel, called trip tables. Both the ITAM and NBTAM Trip Distribution
models are based on the Fratar or Growth model.
This structure uses a trip distribution matrix as its starting point and then adjusts the number of
trips assigned to each zone (the trip matrix) based on the new total number trips for each zone.
However, the trip distribution patterns between the starting trip matrix and the new trip matrix
remain constant. Therefore, using the Fratar approach should be done with care, especially if
an area is experiencing land use changes. Because the land use mix for the project site
changed in the future scenario from the previous model, the Consultant should provide
clarification as to whether the Fratar factors for the receiving zone (TAZ 546) changed because
of the different land use or were they held constant in all model runs?
It is not known from the report if the same seed is used for the "with and without the project"
model runs. The trip distribution for the project site zone should be analyzed in detail to ensure
that its trip distribution pattern represents the new land use and is not incorrectly reflected
based on old, dissimilar land uses.
•
^ Traffic Assignment .
Traffic assignment in both models should be consistent with the OCTAM methodology. A
critical missing part in the report is the model validation, i,e., comparison of forecast traffic
Richard Edmonston
• November 10, 2003
Page 3 of 14
volumes with actual counts. If the forecast traffic volumes compared with the actual traffic
counts are significantly different, the future forecast traffic volumes may need to be adjusted
accordingly.
ITAM and NBTAM Differences
The Consultant should provide clarification on whether any adjustments were made to the
inputs or outputs from the ITAM model runs that may not have been done the NBTAM and
were any of the assumptions used materially different in the two models (i.e., land use,
network configuration, operational considerations {toll vs. no toll }, land -use to socio- economic
conversion factors, etc.)? Also, information needs to be provided about whether the Newport
Beach area in the ITAM network was consistent with the NBTAM and vice versa? Are there
consistent lane and street system configurations including number of lanes, toll assumptions,
etc.? If not, what material differences are there?
Finally, the Consultant needs to provide information regarding what post - processing was done
to the model output to achieve the turning movement and link volumes presented in the ICU
worksheets? Because the model should be assigning traffic as Passenger Car Equivalents
(PCE), the numbers may not be fully calibrated with existing data, and the numbers may be
• generated as link volume data and not directly as intersection turning volumes, the number of
trips for some locations may either be adjusted to inappropriately replicate existing patterns or
may be directly taken from the model and not accurately reflect established behaviors.
Because some of this information was not available as of this writing, some of these will need
to be addressed by K -H and Urban Crossroads through responses to comments.
Errors, Omissions, and Additional Clarifications
General Comments
■ There are no existing conditions analysis worksheets provided for the study area
intersections.
No figure is provided depicting existing condition V/C ratios for the area roadways.
■ Roadway analysis should be provided for all scenarios for I -405, SR -73, SR -55, Bristol
Street and Jamboree Road south of SR -73. Ramp analysis should be provided for all
ramps along SR -73 and I -405 where project traffic will be traveling.
■ For locations where intersection or street geometries were found to not match existing
conditions, the capacity analyses must be rerun to determine if the conclusions are
materially different.
Discussions with the K -H project manager for the traffic report indicated that the study
area boundaries were initially identified by K -H and then approved by the City of Irvine
staff. K -H. stated that the study are was not extended to the south because the trips were
not assumed to change significantly from that area compared to the original IBC EIR
Richard Edmonton
November 10, 2003 •
Page 4 of 14
traffic study. The traffic impacts from trip rerouting would be primarily expected in the
north since that is where the trips would have been originally assigned.
We do not agree with this assumption. If the study was to only look at the differences
in the trip assignments between the original EIR study and this modified land -use plan
and identify impacts that were previously not accounted for, then the trips and
mitigation measures from that earlier study should have been presented and the
incremental changes compared. Since the study looked at the trips generated on top of
existing traffic volumes along with ambient background growth, then the trips were
being assigned the same as a typical traffic study and all intersections within the
projects sphere of influence that could be significantly impacted by additional traffic
should have been analyzed.
Page 1:
• In the first paragraph the square footage from the Edwards sending site should be
532,389 square feet and not 568,991 as shown.
• In the last paragraph the report should clarify whether the existing buildings will remain
or whether the development sizes presented are the total project sizes.
Page 4:
• The first paragraph states that the existing entitlements plus the proposed transfers bring
the total development to 486,500 square feet. This does not equate if the existing
entitlement rights are for 138,328 square feet and they are transferring about 556,000
square feet of rights. This should be clarified to identify the actual entitlement rights
being proposed for the Scholle property.
• The report needs to clarify why there is a need to transfer 556,00 square feet of
development rights for a project that is only 486,500 square feet in size, especially
given that the site already has unused development rights.
• The fifth paragraph states that all G.P. (general plan) roadway links in the study area
were analyzed. This should either be changed to state that only G.P. links in the City of
Irvine were analyzed or state which intersections outside of the city, if any, are being
analyzed.
• The study area should be extended to the south at least one mile to include major
intersections in Newport Beach. Since Jamboree and SR -73 are identified in the report
as CMP roadways, they should be analyzed to identify impacts to the south, east, and
west of the project site. Additional intersections analyzed should include:
• University and Jamboree
• University and MacArthur Ramps
• Bison and Jamboree
• Bison and MacArthur
• Bison and SR -73 Ramps
.
• Bayview and Bristol Street South
• The first bullet point at the bottom of the page is repeated.
1Z
Richard Edmonston
• November 10, 2003
Page 5 of 14
Page 5:
• Figure 3 does not reflect the existing roadway configuration for the Jamboree /SR -73
interchange. Bristol Street should also be added to the figure. This should be changed to
reflect current conditions. The figure should also be extended south to include
additional analysis intersections in Newport Beach.
Page 6:
■ Figure 4 does not reflect the existing roadway configuration for the Jamboree /SR -73
interchange. Bristol Street should also be added to the figure. This should be changed to
reflect current conditions. The figure should also be extended south to include
additional analysis intersections in Newport Beach.
Page 8:
•
Under the Analysis Methodology section, discussion should be included discussing the
Newport Beach Methodology for those intersections either wholly within or on the
border of Newport Beach.
• Page 9:
•
Under the Model Assumptions section, all planned or assumed roadway changes should
be listed to more clearly identify changes in the area. These assumptions should be
checked against the figures, capacity calculations, and model inputs.
•
The future improvements along the SR -73 corridor should be checked. Discussions with
TCA officials indicated that the proposed ramp improvements at Jamboree Road and
the widening south of Jamboree are on hold and may not be completed in the time
frame of this study. Therefore, an alternative analysis should be prepared for both with
and without -ramp scenarios. In addition, based on discussions with OCTA planning
staff the inclusion of HOV lanes along SR -73 may not occur by the planning year 2025.
If the inclusion of these lanes in the Year 2025 forecasts has significantly redistributed
traffic to the south along this corridor, the impacts of not having those lanes should be
considered. While it is understood that the HOV lanes are in the OCTA Year 2025
planning model, the current financial condition of the TCA may result in a significant
delay in such facilities being funded in the planning horizon. Therefore, the impacts of
not having such facilities should be understood.
Page 10:
•
The figure should be extended south to include all of the analysis intersections in
Newport Beach.
.
Bristol Street, Bristol Street North, and Birch Street should be added to the figure.
•
Existing lane numbers should be provided for all of the roadway links in the figure.
Richard Edmonton
November 10, 2003
Page 6 of 14
Pages 11 and 12:
• The table should include analysis for SR -73 and Bristol Street.
• For locations outside of Irvine, appropriate values should be presented based on
acceptable criteria from the managing agency.
Page 13:
• The intersection geometries for the locations identified in the following section
(Intersection Geometry and Capacity Calculations) are not accurately reflected in the
figure. These should be changed to reflect accurate current conditions.
• The municipal boundaries for Irvine and Newport Beach should be shown on the figure.
• The figure should be extended south to include all of the analysis intersections in
Newport Beach.
Page 14:
• The lane configuration on Birch Street should be checked. There is no current plan to
widen Birch to six lanes as depicted in the figure.
• The cross- section of Jamboree south of Michelson should be checked to verify the
seven -lane configuration depicted. No improvement plan was identified to indicate any
additional lanes. Analysis calculations should be revised accordingly.
• The cross - section for SR -55 should be reviewed to determine if the 10D cross - section •
includes the proposed HOV lanes under construction. Analysis results should be revised
accordingly.
• Bristol Street is shown as 3D, when the street narrows to only two lanes west of the
SR -73 off -ramp.
Page 15:
■ The LOS "E" capacity for Main Street between Harvard and Culver should be
provided, rather than "N /A ".
Page 17:
• The intersection diagrams should be revised based on the comments in the following
section to accurately reflect existing plus committed improvement cross - sections.
Page: 18:
The figure should be extended south to include all of the analysis intersections in
Newport Beach.
Page 21:
• In the first bullet point Red Hill Avenue is listed as widened between Main and I -405,
however Figure 11 shows it widened between I -405 and MacArthur
• The last bullet point lists Jamboree Road being widened from an 8 -lane Major Roadway •
to a 10 -lane Smart Street. However, a review of the OCTA Directions 2030 plan did
not list such an improvement.
a'
Richard Edmonston
• November 10, 2003
Page 7 of 14
• The assumption in the last paragraph that the LA Fitness building will be converted to
Industrial use should be substantiated as it appears contrary to development trends in
the area.
Page 22:
• See previous discussion regarding Figures 6 and 8.
Page 23:
• Cross - section for Birch Street is incorrect. Should be four lanes.
• Cross - section for Bristol Street is incorrect. Should be two lanes.
• The future cross - section of Jamboree Road is depicted as an eight -lane cross - section
south of SR -73. The eight -lane segment is quite short and the model should be checked
to be sure this segment is correctly coded.
Page 26:
• See previous discussion regarding Figures 6 and 8.
Page 28:
• The project square footage for TAZ 441 (Fitness Center) does not match the rest of the
• report. Correct value and verify correct number was used in the model calculations.
• Table indicates that 23,000 square feet of space is to be removed from the Scholle site.
If the incremental traffic growth is being assigned to the existing intersection values for
the capacity analysis and the existing development space is vacant, then t116 model trip
generation for the existing site is incorrectly being subtracted from existing volumes.
To correctly assign the incremental difference in traffic, the existing land use values
should be subtracted from the existing conditions, revalidated, and then the new
development on the site added. This analysis needs to be verified to be sure site traffic
volumes are not being incorrectly removed.
• The consultant needs to explain why the transferred value at the receiving site is less
than the value removed from the sending site. Some numerical equivalency should be
presented to equate the two values.
Page 29:
• The consultant should explain the second sentence in the first paragraph. Existing
traffic counts should be used to validate the existing model runs and not the future year
scenarios.
• If the existing traffic volumes were used to validate the existing model data and the site
was not occupied during the time when the counts were conducted, then the land use
assumptions in the model should be adjusted to match actual conditions when the counts
were conducted. The consultant needs to provide clarification on this.
• The consultant should explain the first sentence in the second and last paragraphs
regarding how the existing traffic counts were used in running the ITAM model for
future volumes.
s�
Richard Edmonston
November 10, 2003
Page 8 of 14
Page 30:
• The figure depicts the site in the wrong location.
• The graphic has the wrong configuration for the Jamboree /SR -73 interchange.
• The figure should show traffic volumes for all of the major streets in the study area
including SR -73, Bristol Street, and SR -55.
Page 36:
The V/C ratio for Bristol South is shown to be 1.41. If this is correct, analysis should
be provided along with discussion regarding possible mitigation measures, as it would
be unlikely that the roadway would function at this V/C level. This is especially
important as on page 55 the report indicates that 15.8 percent of the project traffic
would be using this roadway.
Page 39:
• The last paragraph states that the LA Fitness site is assumed to have the same land uses
as existing for the year 2025. However, the table on page 28 indicates increased land
use in each analysis year. One of these needs to be corrected. If the model was run with
incorrect data, then the trip analysis should be rerun and appropriate calculations
revised. 0
Page 42:
■ The roadway volumes on Jamboree south of University and on Birch north of Bristol
are lower in the 2025 analysis than in 2007. The consultant must explain why these
volumes would decrease when development in increased.
Page 48:
• The roadway volumes on SR -73 are lower in the Post 2025 analysis than in 2025 when
additional lane capacity was added. The consultant must explain why these volumes
would decrease when development in increased.
Page 54:
• A more complete description of the trip generation rates used should be provided. The
IBC rates listed in the table show a daily trip generation total of 10,349 trips with 821
AM and 1,013 PM trips. The ITE rates used for the driveway analysis show 6,327
daily trips with 613 AM and 845 PM trips.
Pages 55, 56, and 57:
• The directional distribution percentages display an anomaly between the 2007, 2025,
and Post 2025 values. The percent of site traffic approaching and departing to the south
on Jamboree is about 32 percent in 2007, but drops to about 22 percent in 2025 and .
beyond. The consultant needs to explain why this significant amount of site traffic
would shift from Jamboree. Based on the illustrations, the traffic appears to move to
Richard Edmonton
November 10, 2003
Page 9 of 14
MacArthur. A concern is that the site demographic data is not being accurately
reflected in the regional distribution and the model may be assigning traffic based on an
industrial -type development rather than an office /commercial site.
■ The consultant should provide a distribution by direction, especially for the roadways
proximate to the site, to provide a better explanation of site traffic movement.
Page 58:
• In the second paragraph the consultant states that the ITAM model may provide
"unexplainable results" in some locations because of shifts in background traffic.
However, no locations where this occurred are presented. The consultant should either
identify any such locations or remove the paragraph.
• The third paragraph states that the LA Fitness site is assumed to have the same land
uses as existing for the year 2025. However, the table on page 28 indicates increased
land use in each analysis year. One of these needs to be corrected. If the model was run
with incorrect data, then the trip analysis should be rerun and appropriate calculations
revised.
Page 59:
The volumes on Jamboree south of SR -73 are lower than the Without- Project scenario.
The consultant needs to explain why traffic volumes would decrease in this area
approaching the site.
Page 65:
■ The volumes on Jamboree south of SR -73 are lower than the Without- Project scenario.
The consultant needs to explain why traffic volumes would decrease in this area
approaching the site.
Page 69:
The intersections of Jamboree at MacArthur and Jamboree at Birch are partially within
Newport Beach and any impact that exceeds the Newport Beach threshold must be
mitigated.
Page 71:
In the first paragraph, the consultant states that by not rounding the V/C calculation
results to two decimal places the project would not have a significant impact on area
roadways and intersections. However, if this rounding is required by Irvine, this
comment is irrelevant. If Irvine does not specify this method of rounding, the model
output should be revised to eliminate or correct the rounding.
Page 73:
• The traffic volumes on Jamboree south of SR -73 and on SR -73 east of Birch street are
lower in the With- Project scenario than in the Without- Project scenario. The consultant
should provide an explanation why this is occurring.
\b
Richard Edmonston
November 10, 2003 .
Page 10 of 14
Page 77:
• The intersections that are partially or wholly in Newport Beach should be analyzed and
mitigated per the Newport Beach methodology.
• See discussion for Page 71.
Page 83:
• The queuing analysis does not take into consideration surge loading at the site
entrances. It is not reasonable to expect employees to arrive evenly over a one -hour
period in the AM peak hour. More typically about 75 percent of the employees will
arrive in the 30 minutes prior to starting work. Therefore, the analysis should be
analyzing an equivalent load of 150 percent of the peak -hour volume (75 percent in 30
minutes = 150 percent in 60 minutes). Using these values, the stacking should be for
about six to seven cars per gate rather than One or two.
• The first bullet point indicates that Access Drive A will be signalized, but no analysis is
provided in the report. Queue analysis of the left -turn traffic should be included to
determine the adequacy of the left -turn lanes at both Fairchild and Drive A. This
analysis must consider traffic signal timing which favors through traffic on Jamboree.
Page 84:
• The calculations should be revised to reflect the above comment.
Page 86:
This table should be combined with the previous site trip information to compare the
projected generation using the three trip generation rates (IBC, ITAM, and ITE).
Page 87:
• The north arrow should be adjusted in the figure to reflect the actual north direction.
• The figure reasonably reflects the directional distribution of traffic as presented in the
2007 model scenario. However, for 2025 and beyond the figure and driveway volumes
do not reflect the model results. If the long -range model is deemed to be correct, then
the implications on site traffic access and intersection operations should be discussed
and analysis provided.
Page 90:
• For the CMP analysis, the bullet points identify the CMP roads in the study area.
However, the next paragraph states that only Jamboree Road and I -405 are in the study
area. However, SR -73 is one of the stated study area boundaries and therefore must be
in the study area. Also MacArthur south of Jamboree is part of the CMP system and
should be included in the analysis.
■ There is no analysis presented of the CMP roadway analysis.
\6
Richard Edmonston
November 10, 2003
Page 11 of 14
Page 91:
• The second paragraph states that the City of Newport Beach will adopt a deficiency
plan for the intersection of Jamboree and MacArthur. A portion of the intersection lies
within the City of Irvine and any deficiency plan will have to be adopted by both cities.
• This same paragraph references Table 27 in error. The correct reference is Table 29.
• The third paragraph states that 467,030 square feet of development rights will be
transferred from the Edwards site. This number should be corrected to be 532,389.
Intersection Geometry and Capacity Calculations
The intersection geometry and capacity calculations were reviewed. The following outlines the
comments and corrections for the intersections in the southern portion of the study area:
Intersection #84: MacArthur Boulevard at Campus Drive
The ICU analysis needs to be recalculated using Newport Beach capacity of 1600 vphpl
and without the clearance interval of 0.05 for all scenarios (2007 with and without
project, 2025 with and without project, and Post 2025 with and without project)
Intersection #85: MacArthur Boulevard at Birch Street
• The ICU analysis needs to be recalculated using Newport Beach capacity of 1600 vphpl
and without the clearance interval of 0.05 for all scenarios (2007 with and without
project, 2025 with and without project, and Post 2025 with and without project)
■ The existing intersection lane configuration on Figures 6, 8, and 10 needs to be revised.
The figures should indicate a shared thru -right on the southbound approach and a
shared thru -right on the eastbound approach. The correct lane configuration was used
for the ICU calculations, but not on the figures.
Intersection #105: Von Karman Avenue at Campus Drive
■ The ICU analysis needs to be recalculated using Newport Beach capacity of 1600 vphpl
and without the clearance interval of 0.05 for all scenarios (2007 with and without
project, 2025 with and without project, and Post 2025 with and without project)
Intersection #106: Von Karman Avenue at Birch Street
• The ICU analysis needs to be recalculated using Newport Beach capacity of 1600 vphpl
and without the clearance interval of 0.05 for all scenarios (2007 with and without
project, 2025 with and without project, and Post 2025 with and without project)
Intersection #107: Von Karman Avenue at Mac Arthur Boulevard
■ The ICU analysis needs to be recalculated using Newport Beach capacity of 1600 vphpl
and without the clearance interval of 0.05 for all scenarios (2007 with and without
project, 2025 with and without project, and Post 2025 with and without project)
• The existing intersection lane configuration on Figure 6 needs to be revised as indicated
on the attached mark up. The figure should indicate two left turn lanes, one thru lane,
11
Richard Edmonston
November 10, 2003
Page 12 of 14
and a free right turn lane in the southbound direction. The lane configuration was
indicated correctly in the ICU calculation but not on Figure 6.
Intersection #146: Jamboree Road at Dupont Road
• The existing intersection lane configuration on Figure 6 needs to be revised. The figure
should indicate a shared thru -right in the eastbound direction and a shared thru -right in
the westbound direction.
Intersection #147: Jamboree Road at Campus Drive
• The ICU analysis needs to be recalculated using Newport Beach capacity of 1600 vphpl
and without the clearance interval of 0.05 for all scenarios (2007 with and without
project, 2025 with and without project, and Post 2025 with and without project)
• The existing intersection lane configuration on Figure 6 needs to be revised. The figure
should indicate two left turn lanes in the northbound direction. The figure should also
indicate two left turn lanes, two thru lanes, and one free right in the eastbound
direction. The capacity calculations for each scenario should be revised to reflect the
correct geometry.
Intersection #148: Jamboree Road at Birch Street
• The ICU analysis needs to be recalculated using Newport Beach capacity of 1600 vphpl
and without the clearance interval of 0.05 for all scenarios (2007 with`and without
project, 2025 with and without project, and Post 2025 with and without project)
Intersection #149: Jamboree Road at Fairchild Road
• The ICU analysis needs to be recalculated using Newport Beach capacity of 1600 vphpl
and without the clearance interval of 0.05 for all scenarios (2007 with and without
project, 2025 with and without project, and Post 2025 with and without project)
• The existing intersection lane configuration on Figure 6 needs to be revised. The figure
should indicate a shared thru -right in the northbound direction and a shared thru -right in
the eastbound direction. The lane configuration was indicated correctly in the ICU
calculations but not on Figure 6.
Intersection #150: Jamboree Road at MacArthur Boulevard
• The ICU analysis needs to be recalculated using Newport Beach capacity of 1600 vphpl
and without the clearance interval of 0.05 for all scenarios (2007 with and without
project, 2025 with and without project, and Post 2025 with and without project)
• The existing intersection lane configuration on Figure 6 needs to be revised. The figure
should indicate a right turn lane in the westbound direction.
Intersection #151: Jamboree Road at Bristol Street North
Richard Edmonston
November 10, 2003
Page 13 of 14
• The ICU analysis needs to be recalculated using Newport Beach capacity of 1600 vphpl
and without the clearance interval of 0.05 for all scenarios (2007 with and without
project, 2025 with and without project, and Post 2025 with and without project)
• Although the northbound right turn onto the SR -73 ramp occurs north of the
intersection, the lane striping designates the movements for the ramp exit prior to the
intersection. It should be assumed that drivers will move to the appropriate lane prior to
the intersection and the two right -most lanes will not operate as exclusive through lanes
at the intersection. Therefore, the capacity calculations should be revised to reflect this
condition by analyzing the northbound approach as one right -tum lane, one shared
through /right -turn lane, and one exclusive through lane. The geometry should also be
reflected in Figures 6, 8, and 10.
Intersection #153: Jamboree Road at Bristol Street South
• The ICU analysis needs to be recalculated using Newport Beach capacity of 1600 vphpl
and without the clearance interval of 0.05 for all scenarios (2007 with and without
project, 2025 with and without project, and Post 2025 with and without project)
• The existing intersection lane configuration on Figure 6 needs to be revised. The figure
should indicate a shared thru -right in the northbound direction and is also missing an
east leg (SR -73 on- ramp). The lane configuration was indicated correctly in the ICU
• calculations but not on Figure 6.
Intersection #176: Fairchild Avenue at MacArthur Boulevard
• The existing intersection lane configuration on Figure 6 needs to be revised -The figure
should indicate a shared thru -right in the westbound direction. The lane configuration
was indicated correctly in the ICU calculations but not on Figure 6.
Intersection #194: University Drive at MacArthur Boulevard SB
• The ICU analysis needs to be recalculated using Newport Beach capacity of 1600 vphpl
and without the clearance interval of 0.05 for all scenarios (2007 with and without
project, 2025 with and without project, and Post 2025 with and without project)
Intersection #229: Alton Parkway and Culver Drive
The lane configuration on the westbound approach is incorrect. The existing lane
configuration should be two left -turn lanes, one exclusive through lane, and one shared
through /right -turn lane. The figures and capacity calculation indicate a separate
westbound right -turn. The future scenarios also indicate three through lanes each
direction on Alton. The figures and capacity calculations must be recalculated to reflect
the correct lane configurations and number of through lanes.
Other intersections where inconsistencies were identified include #9- MacArthur Sr -55 NB
• Ramp, #42 -Red Hill/Barranca, #47 -Red Hill/MacArthur, #49 -Red Hill/Main, #145 -
Jamboree/Michelson, and #234- Culver/Michelson. These intersections should be re- surveyed
and the capacity calculation rerun to identify and reflect the correct current geometry.
1'
Richard Edmonston
November 10, 2003
Page 14 of 14
Intersections where future improvements are planned and programmed should be identified in
the report text and highlighted in the figures.
Final Review Memo 11- 04- 03.doc
•
•
•
•
Mayor
Tod W. Ridgeway
Mayor Pro Tein
Garold B. Adams
Council Members
Steven Bromberg
John Heffernan
Richard A. Nichols
DRAFT
CITY OF NEWPORT BEACH
January 14, 2004
David Law, AICP
Senior Planner, City of Irvine
P.O. Box 19575
Irvine, CA 92623 -99575
OFFICE OF THE MAYOR
Steven Rosansky RE: PRELIMINARY COMMENTS REGARDING THE SCHOLLE PROJECT
Don Webb (19000 JAMBOREE ROAD) AND USE OF AN ADDENDUM TO THE
1992 PROGRAM EIR FOR THE IRVINE BUSINESS COMPLEX
Dear Mr. Law:
This letter is intended to provide you with early notice of our concerns pertaining
to the proposed Scholle development and the use of an addendum to a
previously prepared Program EIR forcompliance with CEQA. In addition to the
. potential impacts to the City of Newport Beach resulting from this project, we are
equally concerned with the cumulative impacts resulting from recently approved
projects located in the Irvine Business Complex near our City limits.
Please note that although we have not received the addendum to the Program
EIR for the Scholle Project, nor the proposed final traffic study, the City of
Newport Beach has been advised that these reports may be released by the City
of Irvine in mid - January and considered by the Traffic and Infrastructure
Commission on January 26, 2004, giving us only a few days to review relevant
documents. As such, our Environmental Quality Affairs Committee (EQAC)
began reviewing volumes of documents in connection with recently approved
projects at the Irvine Business Complex and evaluated a draft traffic study for
the Scholle project. The Committee met on December 15, 2003 and discussed
the project, along with projects approved and /or considered within the last few
years. Committee members compiled the following summary of concerns which
were subsequently reviewed and approved by the City Council at its meeting on
January 13, 2004.
Summary of Concerns: Unmitigated Sicmnificant Traffic Impacts
As discussed below, the Program EIR for the Irvine Business Complex
concluded that the Project, General Plan Amendment and rezoning of the IBC
. would result in significant traffic impacts, which could not be mitigated. In
connection with this impact, in 1992, the City of Irvine adopted a Statement of
Overriding Considerations and approved the 1992 GPA/Rezoning Project.
City Hall • 3300 Newport Boulevard • Post Office Box 1768
Newport Beach, California 92658 -8915 • www.city.newport- beach.ca.us n
(949) 644 -3004 r
David Law
Page 2
January 14, 2004 •
The Scholle Project will intensify these impacts: it transfers substantial amounts of
development rights under the Program EIR's provision for Transfer of Development Rights
which allows for transfer of trips between sites in the IBC. The transfer sites are north of
Interstate 405; and the Project site is approximately two miles south of 1-405, adjacent to
State Route 73 and surrounded by the City of Newport Beach on three sides.
In addition, within the past two years, the City of Irvine has considered and /or approved
eight (8) projects, four of which have transferred development rights from north of 1-
405 to south of 1-405. The City should prepare an EIR to study the cumulative impacts of
these projects and the Project impacts and propose any necessary mitigation.
We recommend that the City reconsider the Addendum and the Program EIR, revise the
document and prepare another EIR to address the Project's impacts in connection with the
John Wayne Airport, State Route 73, various important intersections within the City of
Newport Beach and the cumulative impacts of the Scholle Project combined with other
projects. All of these Projects are, or were, based upon the Program EIR and have
transferred development/traffic impact credits south of various related sites and sometimes
south of Interstate 405 with direct impacts to important intersections within the City of
Newport Beach.
We make these recommendations for several reasons: •
(1) The traffic impacts of the Scholle Project alone may warrant the preparation
of a new EIR or a Supplemental EIR;
(2) The cumulative impacts of various commercial projects in the IBC together
with those of the Scholle Project require preparation of a new EIR or a
Supplemental EIR;
(3) The cumulative impacts of various residential projects along Jamboree Road
together with those of the Scholle Project mandate preparation of a new EIR
or a Supplemental EIR;
(4) The CEQA Guidelines recent requirements regarding developments within
the vicinity of airports require preparation of a new EIR or a Supplemental
EIR; and
(5) Various other impacts of the Scholle Project including impacts on water
quality, hydrology, natural and protected resources, air quality and other
impacts require preparation of a new EIR or a Supplemental EIR.
11. The Program EIR, the Addendum and Legal Standards.
An EIR constitutes the heart of CEQA: an EIR is the primary environmental document •
which:
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David Law
Page 3
January 14, 2004
".. 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 for perfection but for adequacy,
completeness, and a good faith attempt at full disclosure."
• Further, "the EIR must contain facts and analysis, notjust the agency's bare conclusions
or opinions." Concerned Citizens of Costa Mesa, Inc. v. 32nd District Agricultural
Association. (1986) 42 Cal. 3d 929.
Pursuant to Guidelines section 151654, an addendum to an EIR may be prepared when
the lead agency determines that none of the following conditions set forth in Guidelines
section 15162 pertain:
(1) "Substantial changes proposed in the project will require major revisions of
the previous EIR ... due to the involvement of new significant environmental
effects or a substantial increase in the severity of previously identified
significant effects;
(2) Substantial changes occurwith respect to the circumstances underwhich the
project is undertaken which will require major revisions of the previous EIR
... due to the involvement of new significant environmental effects or a
substantial increase in the severity of previous identified significant effects; or
(3) New information of substantial importance which was not known and could
not have been known with the exercise of reasonable diligence at the time of
the previous EIR was certified as complete ... shows any of the following:
(A) The project will have one or more significant effects not discussed in
• the previous EIR;
David Law
Page 4 •
January 14, 2004
(B) Significant effects previously examined will be substantially more
severe than shown in the previous EIR;
(C) Mitigation measures or alternatives previously found not to be feasible
would in fact be feasible, and would substantially reduce one or more
significant effects of the project, but the project proponents decline to
adopt the mitigation measure or alternative; or
(D) Mitigation measures or alternatives previously analyzed which are
considerably different from those analyzed in the previous EIR would
substantially reduce one or more significant effects on the
environment, but the project proponents decline to adopt the
mitigation measure or alternative."
Guidelines section 15162(a).
However, as discussed below, the Scholle Project raises several of these issues, and we
recommend that the City of Irvine prepare a subsequent EIR or another EIR for the Scholle
Project.
Moreover, as indicated above, the City of Irvine adopted a Statement of Overriding
Considerations in connection with the IBC Project relating to, among others, traffic impacts. .
In order to adopt the Statement,
"CEQA requires the decision -maker to balance the benefits of a proposed
project against its unavoidable environmental risks in determining whether
to approve the project. If the benefits of a proposed project outweigh the
unavoidable adverse environmental effects, the adverse environmental
effect may be considered 'acceptable. "'
Guidelines section 15093(a). However, as discussed below, having approved the IBC
Project by adopting the Statement of Overriding Considerations, the City of Irvine proposes
now to approve the Scholle Project without preparing an EIR with full environmental
analysis and without adopting another Statement explaining the significance of impacts and
the benefits of the Scholle Project.
Also, in connection with 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
�A
David Law
• Page 5
January 14, 2004
assist in the preparation of the EIR relative to potential airport- related safety
hazards and noise problems."
CEQA Guidelines section 15154(a).
Ill. Introduction: the IBC Program EIR and the Scholle Proiect.
A. The IBC Program EIR and Master Plan.
1. Introduction: the Need for the IBC Master Plan.
In 1987, the City of Irvine identified concerns with the previously prepared EIR: "In
1987, the City discovered that the IBC approvals exceeded the level studied in
the 1989 (sic) Supplemental EIR." Program EIR, Project Description, III -6.
(Something is wrong with the quoted dates). As a result, the City of Irvine enacted
an interim urgency ordinance, attempting to limit development in IBC to a level
consistent with the "existing and projected transportation system."
In 1992, the City approved and certified the Program EIR for IBC. The IBC Project
site and planning area covers over 2,800 acres with the following borders: on the
. north, the U.S. Marine Corps Air Station, Tustin; on the south, John Wayne Airport
and Campus Drive; on the east, San Diego Creek; and on the west, State Route 55;
"Interstate 405 transverses the southern portion of the IBC, and Interstate 5 is
located to the north and east. " The City of Newport Beach borders the IBC Project
on the south.
2. The IBC Proiect and the Program EIR.
The IBC Project and Program EIR divided the planning area into three districts: the
multi -use district covered all areas south of Barranca Parkway; the industrial district
included areas north of Barranca Parkway as well as areas already entitled or used
for industrial purposes; and the "[r]esidential [d]istrictwithin IBC will be limited
to the existing and previously approved projects." Program EIR, Executive
Summary III -9. Among other things, the Program EIR and the IBC Project
established: (1) a Trip Budget for each parcel and limited development of the parcel
pursuant to the Trip Budget; and (2) it created "a mechanism for Transfer of
Development Rights (TDR)" and required that each TDR complete a discretionary
review process to allow identification of all potential impacts of the TDR, and
propose appropriate mitigation." Program EIR, Executive Summary, III -10.
The Circulation and Traffic section of the Program EIR for the IBC employs a
three -step model to evaluate traffic forecasts and impacts. The first step is to
group intersections within the IBC and measure those intersections by taking a
group average. According to the Program EIR, three of the five intersection
J
David Law
Page 6
January 14, 2004
groups fail to meet the performance criteria in the AM and /or PM peak hours for
both the current General Plan and Rezoning land use scenarios..." Page IV.A -18.
The southern boundary for Group C, one of the failing intersection groups, is located
at the intersection of Jamboree and MacArthur, directly adjacent to the City of
Newport Beach, and the proposed Scholle Development project site is located within
Group C. The traffic analysis for Group C that was done forthe Program EIR shows
that this intersection group failed before the additional 9,828 daily trips had been
transferred to the Scholle site through the TDR process. The additional 9,828 daily
trips further intensify the problem.
The Program EIR proposes mitigation measures that include roadway
improvements. However, the majority of the roadway improvements are proposed
for the northern and central portions of the IBC in intersection Groups and B, while
most of the daily trips that have been (or are proposed to be transferred) are to the
southern portion of the IBC in intersection Group C, including the 9,828 daily trips
that have been added to the proposed Scholle Development project site.
The second step used to evaluate traffic forecasts in the Program EIR is "screenline
analysis," which "entails the grouping together of parallel links in the arterial network,
and comparing their total assigned traffic volume to their combined roadway
capacity." According to the Program EIR, "(e]ven with the extensive mitigation
program, two screenlines continue to exceed the (Average Daily Trip] ADT link
volume performance criteria: screenline 3 (V /C = 1.05) (Main Street, which
intersects Jamboree just north of 1-405] and screenline 4 (V /C = 1.11) (Michelson
Drive, which intersects Jamboree just south of 1 -4051. These findings continue to
demonstrate the shortage of north -south capacity within IBC." Page IV.A -48. The
failure of these two screenlines, particularly at the intersections on Jamboree, may
have significant impacts to circulation and traffic on MacArthur and Jamboree in the
City of Newport Beach, especially in view of the Scholle Project and other projects
recently approved by the City of Irvine. Again, the failure of these intersections was
determined before the additional 9,828 daily trips had been proposed to be
transferred to the Scholle Development project site through the TDR process.
CEQA allows the listing of "relevant past, present and reasonably anticipated future
projects" and requires a summary of the projects and a "reasonable analysis of the
cumulative impacts of the relevant projects" and an examination of "reasonable,
feasible options for mitigating or avoiding the project's contribution to any significant
cumulative effects." However, the Program EIR simply provides a list of proposed
projects within a two -mile radius of the IBC area and fails to provide any analysis of
the cumulative impacts or feasible options for mitigating those impacts. More
importantly, and as discussed below, the environmental documents in connection
with the Scholle Project fail to carefully consider the cumulative impacts of
other recently approved projects within IBC, most of which result in TDRs to the
south of the IBC and near or adjacent to the City of Newport Beach.
David Law
Page
January 14, 2004 4
The Traffic and Circulation discussion of the Cumulative Impacts section in the
Program EIR states that "(d)ue to the nature of the project, the projects contribution
to cumulative traffic impacts is considered significant." However, the Program EIR
defers any mitigation to the proposed traffic mitigation measures and to "individual
projects contributing toward the construction of ultimate road configurations adjacent
to their properties..." Page V. 19 -20.
Finally, and most importantly, the Program EIR concludes, "[t]he IBC Rezoning
Project will have a significant impact on traffic and circulation within and surrounding
the IBC." Even with the implementation of proposed mitigation measures, "several
intersections and road segments within and surrounding the IBC will not meet City
performance criteria, which is considered a significant impact as a result of the IBC
General Plan Amendment and Rezoning Project." (Page IV. A -75.)
B. The Scholle Proiect.
As indicated above, the Scholle Development Project is located at 19000 Jamboree
Road at the southeast corner of Jamboree Road and Fairchild Road in the City of
Irvine, and which borders on the City of Newport Beach to the west and south. The
Project is within close proximity of State Route 73. The Project site is currently
developed with 12,000 square feet of office space and 23,000 square feet of
industrial space. In addition, under former entitlements, the Project site is entitled
an additional 103,328 square feet of office.
The Scholle Project proposes an additional 413,000 square feet of office space for
a total of 425,000 square feet of office space, 54,000 square feet "of health club,"
and 7,500 square feet of restaurant uses on the site: the total square footage of the
Project is 486,500 square feet. The City of Newport Beach considers this to be a
substantial project with potential major environmental impacts.
Further, in order to develop the Scholle Project, the applicant seeks to transfer
development rights to this site from another site within the IBC.
"[t]o accomplish [the Project], the needed trips would be transferred
within the [Irvine Business Complex] IBC through the [Transfer of
Development Rights] TDR process. A total of 9,828 daily trips
will be transferred from the two sending sites [the Edwards Life
Sciences Development complex (Sending Site #1) and the former LA
Fitness building (Sending Site #2)], with 564 trips in the morning peak
hours and 887 trips in the evening peak hour. The total project is
estimated to generate 10,349 daily trips, with 821 trips in the morning
peak hour, and 1,013 in the evening peak hour, based upon the Irvine
0 Business Complex (IBC) trip generate rates."
David Law
Page 8
January 14, 2004 01
Scholle Development, Draft Traffic Study, Page I
The Program EIR for the IBC concludes that the IBC Project will have significant
and unavoidable traffic impacts; accordingly, the City of Irvine adopted a Statement
of Overriding Considerations.
However, the Scholle Development Traffic Study concludes, " the project does not
significantly impact any roadway link within the study area." Among other things,
the Traffic Study concludes that the Project, including the transfer of Project traffic,
will not cause any roadway link to deteriorate from an acceptable to an
unacceptable Level of Service, and will not impact an already- deficient roadway link
by 0.02 or more." Although the Traffic Study finds that the Project will have a
significant long -term impact on two to three intersections, the Traffic Study includes
an analysis that concludes that this impact is "overstated."
As for parking, the Traffic Study proposes a parking variance of 389 parking spaces.
This variance is "supported" by shared parking for each of the Project uses as well
as the Project's proposed Transportation Demand Management program.
W. Procedural Issues: The Addendum, Document Availability, and Public
Comments. 0
The Guidelines section 15164(c) states that an addendum "need not be circulated
for public review but can be included in or attached to the final EIR..." As indicated
throughout, we recommend that the City prepare another or subsequent EIR.
However, to the extent that the City chooses not to prepare such a document, we
respectfully request the circulation of the Addendum for the Scholle Project for
public review and comment.
At its heart, CEQA is a process statute: it provides the public with the opportunity to
participate in the development and environmental review process. The Scholle
Project is an important project, which may create significant and unmitigated
impacts over and above those recognized in the Program EIR for the IBC. We
hope that the City will embrace the spirit of CEQA and circulate the Addendum for
public review and comment.
V. The Scholle Project: Unmitigated Traffic Impacts and Unmitigated
Cumulative Impacts including Traffic Impacts.
A. The Scholle Project Unmitigated Traffic Impacts
As indicated above, the Scholle Project Traffic Study identifies the size of the entire
Scholle Project as 532,389 square feet with 425,000 square feet for office uses,
54,000 square feet for health club uses, and 7,500 square feet for restaurant uses.
#1
David Law
Page 9
. January 14, 2004
The current uses include 12,000 square feet of office space, 23,000 square feet of
industrial space and an additional entitlement of 103,328 for office uses. The
current trip budget for the site is 581 trips with 257 morning peak hour trips and
383 evening peak hour trips.
The proposed TDR's will increase the trip budget substantially: almost twenty
times the total current trip budget for the site with more than three times the
amount of morning peak hour trips and more than three times the amount of
evening peak hour trips. The Project proposes to transfer from two sites north of
Interstate 405 to the Project site adjacent to State Route 73, the following: 9,828
daily trips with 564 morning peak hour trips and 887evening peak hour
trips. The totals are quite significant; the Project will generate 10,349 daily
trips with 821 morning peak hour trips and 1,013 evening peak hour trips.
More significantly, the Scholle Project and Addendum propose to add to or attach to
the Program EIR, which recognized that the IBC Project would create significant
impacts, especially with north /south arterials, and such impacts would not be
capable of mitigation. The Program EIR proposed many traffic improvements in the
hopes of ameliorating, but not mitigating below significance, such traffic impacts.
Surprisingly, most of those improvements occur in the area of the Scholle Project
Sending Sites. That is, the traffic impacts of the Sending Sites are mitigated near
the sending sites but the actual traffic impacts through the TDR are transferred
south, where little or no improvements occur.
In addition, we believe the study area for the Traffic Study is too small for
meaningful environmental analysis. As noted above, the Program EIR included a
similar deficiency: the traffic study area was limited to IBC and areas east and north
of Campus Ave. That is, although State Route 73 was in the planning stages in
1992 and the IBC is adjacent to this highway, the Program EIR failed to conduct
any analysis of the Project's impacts on State Route 73, on -ramps thereto and
intersections and roadways south of this route in the City of Newport Beach. Given
the conclusion of the Program EIR that the IBC Project would create significant and
unmitigated traffic impacts, such a limitation may not be surprising but it appears to
fall short of adequate environmental review.
However, with the somewhat extended study area for the Scholle Project which
includes portions of State Route 73, the Addendum appears to go beyond the
Program EIR. We believe that this extension is unacceptable under CEQA as an
Addendum to the Program EIR and request that the City of Irvine prepare a new
EIR or a Supplement to the Program EIR which would be circulated for full and fair
public review and comment.
• It should be noted that even the Scholle Project's extended traffic study area is
inadequate: the north boundary .is State Route 55; and the south boundary is
David Law
Page 10 •
January 14, 2004
University Ave. However, the study area excludes important arterials and
intersections in the City of Newport Beach including the MacArthur Blvd. off -
ramp from State Route 73; MacArthur Blvd. including its intersections with Bison
Ave., Bonita Canyon Drive, and others; Bayview Dr. and Bristol Street South; and
Jamboree Road and University Ave. These are only some of the problem areas.
The Scholle Project alone provides sufficient cause for the City of Irvine to prepare
a new EIR or Supplement to the Program EIR and propose real and effective
mitigation measures for the traffic burdens created by the Scholle Project.
Assuming for the sake of argument that the Scholle Project itself is not sufficient for
such a new document and analysis, the cumulative impacts of recent TDRs south to
areas near the City of Newport Beach, including the Scholle Project, are considered
more than sufficient to warrant a new and full environmental analysis, a new EIR or
Supplemental EIR and new mitigation measures.
B. The Scholle Proiect and Unmitigated Cumulative Impacts.
As indicated above, the City of Irvine has considered or approved eight (8)
development projects in the IBC. These include:
RD Olson /Legacy Partners Project which includes 290 residential •
units with 7,500 sq. ft. retail and requires TDR, GPA, ZC, CUP. This
project was approved in December 2003.
2. The Lofts at Von Karman which includes 116 residential units (93
base units with 20% affordable qualifying for a 25% density bonus of
23 units) and which is set for consideration by the Planning
Commission in early 2004.
3. The 2300 Michelson Project which includes 80,000 square feet of
office use, requires TDR from north of Interstate 405 to an area south
of Interstate 405, and has been approved by the Planning
Commission.
4. Essex Apartments Project which includes 132 units, with 15%
affordable and which was approved in April 2003 (now in litigation).
5. MetLife Apartment Project which includes 481 market rate units with
in -lieu affordable housing fee contribution and which was approved in
June 2003.
6. The Lakeshore Towers Project which includes a 7 story, 140,951 sq.
ft. office building and expansion of parking structure, which requires •
David Law
Page 11
• January 14, 2004
TDR from north of Interstate 405 to immediately south of Interstate
405, and which was approved in February 2002.
7. 18800 Von Karman Office Project which includes two -story, 26,000
sq. ft. office building, requires TDR from north of Interstate 405 to
south of Interstate 405, and was approved in December 2001.
8. The Von Karman Properties /Larry Armstrong which includes two
office towers, requires TDR from a site on the north edge of IBC to
the Project site near Interstate 405, and which was approved in
November, 2002.
Clearly the number of these projects, their area and the fact that the Program EIR
recognized that the IBC area has significant and unmitigated traffic impacts should
be of concern to the City of Irvine and cause the City of Irvine to consider the
Scholle Project very carefully. Most of the above eight (8) projects involve a TDR
from the north of IBC southerly. Three of these Projects require TDR's from north of
Interstate 405 to areas south of Interstate 405 and very close to the City of Newport
Beach.
A brief review of these last three TDRs as well as the Lofts at Von Karman will
reveal the significance of these cumulative impacts. First, given the Program EIR's
restrictions regarding new residential development, the Lofts at Von Karman cause
concern. It proposes to: increase the IBC dwelling unit cap by thirty (30) units,
increase dwelling unit intensity from 0-40 units to 0 -52 units per acre, and
decrease the IBC non - residential square footage cap. Among other issues, the
project proposed to rezone the site from IBC Multi -use to residential under a new
zoning category. Given the Program EIR's restrictions regarding increased
residential as well as the three categories of approved uses, none of these changes
could fall under the Program EIR. More importantly, given the change in use, the
project at the very least requires some traffic analysis. At worst, it requires
preparation of a new EIR. In combination with the Scholle Project, the cumulative
impacts of this project alone should require the City of Irvine to prepare a new EIR
for the Scholle Project.
The TDR projects also cause concern. First, at build out, the 2300 Michelson
Project will include 80,000 square feet of office use. Currently, the project site
includes only 25,000 square feet of office use. The project proposes a TDR of
55,000 square feet of office use from 17861 Von Karman Avenue, north of Interstate
405. By the standards of the Scholle Project, the transfer numbers are not large but
they virtually double the project's current trip budget. Currently, average daily trip
totals at the site are 332 trips with 31 morning peak hour trips and 33 evening peak
• hour trips. The transfer numbers are total daily trips of 757, morning peak hour
trips of 72 and evening peak hour trips of 76. The total number of trips is large by
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Page 12
January 14, 2004
comparison: average daily trips of 1,786 with 168 morning peak hour trips and 179
peak hour trips. The trip budget for the site with the TDR reduces this total to a level
which the City of Irvine believes may be acceptable. Regardless of this conclusion,
the cumulative impacts of this project alone when considered together with the
Scholle Project, require the City of Irvine to prepare a new EiR.
The Lakeshore Tower Project is similar. Currently, the project site includes 772,500
square feet of office uses in three buildings, 12,100 of restaurant use, and 89,940
square feet of health club use. The proposed project will increase the office space
by 140,951 square feet for a total of 913,451 square feet. Currently, the trip budget
for the site is large: 19,857 average daily trips with 1,293 morning peak hour trips
and 1,833 evening peak hour trips. The project will increase this budget through the
TDR as follows: 21,675 average daily trips with 1,465 morning peak hour trips and
2,015 evening peak hour trips. Although the current entitlement is large, the project
makes it even greater. This is especially true since the IBC Project and Program
EIR proposed an HOV on -ramp to interstate 405 at Von Karman, and no such
improvements, neither the Interstate 405 HOV lane nor the Von Karman on ramp
have been built. Notwithstanding the above, the City of Irvine again concluded that
the project would have no significant impacts oreven significant cumulative impacts.
The City of Newport Beach believes that this Lakeshore project, when considered
with the Scholle Project, will exacerbate an already bad traffic situation.
In 2001, the City approved the 18800 Von Karman office project with a new two -
story, 26,000 square -foot office building. Currently, the project site includes a
19,590 office /industrial building. The project proposes to subdivide the parcel to
allow for the construction of a second 26,000 square foot building. The current trip
budget for the site is: 265 average daily trips with 41 morning peak hour trips and 43
evening peak hour trips. The project would almost double this demand: 465
average daily trips with 60 morning peak hour trips and 63 evening peak hour trips.
As with the other projects, the transfers would come from sites north of Interstate
405.
Some of the above projects are not large, but the cumulative impacts of these
projects are significant. Considering these projects together with the Scholle
Project, it must be concluded that the cumulative impacts are significant and require
preparation of another document, not an Addendum, but an EIR or Supplemental
EIR.
�. Statements of Overriding Considerations
•
As indicated above, the Program EIR for the IBC Project concluded that the Project
would result in significant and unmitigated traffic impacts. Pursuant to CEQA
Guidelines section 15093, the City of Irvine adopted a Statement of Overriding
Considerations in connection with the IBC Project and its traffic impacts. .
David Law
• Page
January 14, 2004 04
The Scholle Addendum appears to incorporate this finding. However, without
adequate environmental analysis, the City cannot make the requisite finding. As
indicated above, the City of Irvine must conduct a thorough review and analysis of
the traffic impacts and all available mitigation measures, and then consider the
benefits and detriments of the Scholle Project. Without a new EIR or a
Supplemental EIR, the City of Irvine cannot make the requisite findings or conduct
the necessary analysis.
D. Additional Considerations.
As indicated above, the CEQA Guidelines section 5154(a) requires a lead agency
such as the City of Irvine to utilize the Caltrans' Airport Land Use Planning
Handbook. Moreover, Guidelines section 15154(b) requires:
"A lead agency shall not adopt a negative declaration or mitigated
negative declaration for a project described in subsection (a) unless
the lead agency considers whether the project will result in a safety
hazard or noise problem for persons using the airport or for persons
residing or working in the project area."
It should be noted that the City of Irvine proposes to conduct much less
environmental analysis than a negative declaration. However, as the City of Irvine
knows, the conditions at John Wayne Airport and the proposed airport at El Toro
have changed significantly. These changes alone, together with Guideline section
15154's mandates, require the preparation of a new EIR or a Supplemental EIR,
and circulation of the document for public review and comment.
In addition, Newport Beach is concerned with the residential developments taking
place east of Campus Avenue. The City of Irvine's efforts to establish an urban
village along Jamboree Road are well publicized. However, it is not clear how this
residential development can occur in the IBC given the residential restrictions in the
Program EIR. Moreover, such projects may create additional traffic impacts. As
with the projects discussed above, the cumulative impacts of these projects when
considered with the Scholle Project require preparation of a new EIR or a
Supplemental EIR, and circulation of the document for public review and comment.
Also, the United States Food and Drug Administration soon will fully occupy its new
facilities near the Scholle Project. This FDA project may also have cumulative
impacts which the City of Irvine should address in the Scholle environmental
document. Again, we recommend that the City prepare a new EIR or a
Supplemental EIR, and circulate the document for public review and comment.
•
Y
David Law
Page 14
January 14, 2004
As discussed above, several of the commercial projects in the IBC propose TDRs
from sites north of Interstate 405 to sites south of Interstate 405 and nearthe City of
Newport Beach. However, the other commercial projects identified above also
propose to transfer rights from areas in the north of IBC southerly. Yet the Program
EIR has proposed numerous traffic improvements in the north of the IBC while traffic
impacts are transferred south. Such a result requires additional environmental
analysis and preparation of a new EIR or a Supplemental EIR.
Finally, the Scholle Project is adjacent to Upper Newport Bay, a protected wildlife
and habitat reserve. The Project will likely create Project related impacts (both
short and long -term) including impacts on hydrology, water quality, air quality,
aesthetics, natural resources and so forth. Because of these impacts alone, the
City of Irvine should prepare a new EIR or a Supplemental EIR, and circulation of
the document for public review and comment.
VI. Conclusion.
Based upon the above, the City of Irvine should withdraw the Addendum and
prepare a new EIR or a Supplemental EIR, and circulate the document for
public review and comment. As indicated above, much has changed in the IBC area
since the certification of the Program EIR. Further, the cumulative impacts of the •
Scholle Project as well as the commercial and residential projects in the area
warrant preparation and circulation of such a document. In addition, the
requirements of Guidelines sections 15164 and 15162 mandate the preparation and
circulation of a new EIR or a Supplemental EIR.
If you have any questions, or would like to discuss the matter further, please call Sharon
Wood, Assistant City Manager at (949) 644 -3000.
Sincerely,
Tod W. Ridgeway
Mayor
cc: Irvine Mayor Larry Agran
Irvine Mayor Pro Tern Michael Ward
Irvine City Councilmember Chris Mears
Irvine City Councilmember Beth Krom
Irvine City Councilmember Christina Shea
Allison Hart, Irvine City Manager
Newport Beach Environmental Quality Affairs Committee
3�
** *REPLACEMENT PAGE * ** "RECEIVED AFTER AGENDA
PRINTED:" # � `4 � - 13 0 N David Law
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January 14, 2004
University Ave. However, the study area excludes important arterials and
intersections in the City of Newport Beach including the MacArthur Blvd. off -
ramp from State Route 73; MacArthur Blvd. including its intersections with Bison
Ave., Bonita Canyon Drive, and others; Bayview Dr. and Bristol Street South; and
Jamboree Road and University Ave. Intersections in Newport beach should be
analyzed using this City's methods including our standard of LOS D. These are
only some of the problem areas.
The Scholle Project alone provides sufficient cause for the City of Irvine to prepare
a new EIR or Supplement to the Program EIR and propose real and effective
mitigation measures for the traffic burdens created by the Scholle Project.
Assuming for the sake of argument that the Scholle Project itself is not sufficient for
such a new document and analysis, the cumulative impacts of recent TDRs south to
areas near the City of Newport Beach, including the Scholle Project, are considered
more than sufficient to warrant a new and full environmental analysis, a new EIR or
Supplemental EIR and new mitigation measures.
B. The Scholle Project and Unmitigated Cumulative Impacts.
As indicated above, the City of Irvine has considered or approved eight (8)
development projects in the IBC. These include:
RD Olson /Legacy Partners Project which includes 290 residential
units with 7,500 sq. ft. retail and requires TDR, GPA, ZC, CUP. This
project was approved in December 2003.
2. The Lofts at Von Karman which includes 116 residential units (93
base units with 20% affordable qualifying for a 25% density bonus of
23 units) and which is set for consideration by the Planning
Commission in early 2004.
3. The 2300 Michelson Project which includes 80,000 square feet of
office use, requires TDR from north of Interstate 405 to an area south
of Interstate 405, and has been approved by the Planning
Commission.
4. Essex Apartments Project which includes 132 units, with 15%
affordable and which was approved in April 2003 (now in litigation).
5. MetLife Apartment Project which includes 481 market rate units with
in -lieu affordable housing fee contribution and which was approved in
June 2003.