HomeMy WebLinkAboutS24 - San Diego Creek Watershed Natural Treatment System• CITY OF NEWPORT BEACH
CITY COUNCIL STAFF REPORT
Agenda Item No. S24
February 24, 2004
TO: HONORABLE MAYOR AND MEMBERS OF THE CITY COUNCIL
FROM: City Manager's Office
Sharon Wood, Assistant City Manager
644 -3222, swood @city.newport- beach.ca.us
SUBJECT: Comments on Revised Draft EIR for San Diego Creek Watershed
Natural Treatment System
APPLICANT NAME: Irvine Ranch Water District (IRWD)
ISSUE:
• Should the City comment on the draft environmental impact report (EIR)?
RECOMMENDATION:
Approve and authorize Mayor to sign comment letter.
DISCUSSION:
The City Council approved comments prepared by the Environmental Quality Affairs
Committee (EQAC) on a draft EIR for the natural treatment system project, and sent
comments to IRWD in May 2003. In response to comments from Newport Beach and
others, IRWD revised the EIR and recirculated it for comments. EQAC reviewed the
revised draft EIR at its meeting of February 17, 2004, and approved the comments
contained in the attached memorandum.
I have prepared a comment letter for the Mayor's signature, based on EQAC's
comments. The major difference between EQAC's comments and the recommended
comment letter is the deletion of comments regarding the revised NTS Master Plan.
EQAC was troubled that the complete revised Master Plan was not available for review
along with the revised draft EIR. After questioning IRWD staff on this point at the EQAC
meeting, I concluded that it is not necessary for the final Master Plan to be available at
this time. IRWD has followed the common practice of releasing a draft Master Plan for
• review along with the original draft EIR, then revising the Master Plan in response to
comments received during the review period. Since more comments are expected
Comments on RDEIR for San Diego Creek Watershed NTS Project
February 24, 2004
Page 2
through review of the revised draft EIR, it is not practical or reasonable to expect the •
Master Plan to be finalized until this review process is complete. This is the same
practice the City would follow for review and approval of a significant planning
document, such as the Local Coastal Program or a General Plan element.
Submitted by:
Sharon Wood
Assistant City Manager
Attachments: Memorandum from EQAC
Draft comment letter
LJ
E
0 MEMORANDUM
To: Mayor Tod Ridgeway and Members of the City Council
City of Newport Beach
From: Environmental Quality Affairs Citizens Advisory Committee ( "EQAC ")
City of Newport Beach
Subject: Irvine Ranch Water District's ( "IRWD" or the "District ") REVISED
DRAFT Environmental Impact Report (the "RDEIR ") regarding the San
Diego Creek Watershed Natural Treatment System Project (the "Project ")
Date: February 20, 2004
Thank you for the opportunity to comment on the REVISED Draft Environmental
Impact Report ( "RDEIR ") for the captioned Project. As indicated in our earlier comments on the
original Draft Environmental Impact Report ( "Original DEIR ") for the Project, we understand
that the City of Newport Beach (the "City ") supports any project which will improve water
• quality in the Upper Newport Bay. As before, nothing in these comments detracts from that
support; these comments simply address the RDEIR. As with our original comments, our goal
is to assist in improving, if necessary, the environmental document and the Project.
These comments on the RDEIR specifically and generally incorporate our earlier
comments on the Original DEIR for the Project.
In addition, we offer the following comments on the RDEIR.
1. Introduction.
At the outset, we note that the Project and its description is a mix of
existing and proposed facilities together with operational protocols for the facilities. However, at
bottom, the existing and approved facilities (Category A -D sites) together with their operational
protocols are part of the existing hydrologic conditions of the San Diego Creek Watershed.
If the RDEIR strips out these existing conditions and protocols, the Project
virtually disappears. We discuss this disappearance /existing conditions problem at several points
in our comments below. However, at bottom, the Final RDEIR should recognize this issue, and
explain and describe the full nature and extent of the Project.
•
2. Executive Summary:
The entire RDE1R suffers a problem similar to the Original DE1R: the
number of sites and the differing levels of analysis is confusing, but also the text and the tables
do not match. For example, in the Executive Summary, we are told that there are eight Regional
Retrofit Facility sites:
"This Revised Draft E1R also includes detailed environmental analyses of eight
NTS Regional Retrofit Facility Site and three Existing Regional Facility Sites for
which construction level design and/or development information, as appropriate
to each facility type, is available. One of the Regional Retrofit Facilities (Site 67)
is evaluated herein at the Program level of environmental analysis since the
specific location and design is currently conceptual and is anticipated to be
determined in the future."
RDE1R, ES -5. Table ES -1 on the next page lists nine Regional Retrofit Facility sites, including
Site 67.
In addition, Table ES -1 shows three Existing Regional Facility sites, 46, 13 and 39. However,
Table 2.5 -1 in the Plan Description chapter shows four Existing Regional Facility sites, adding
Site 27. RDE1R, 2 -25.
E
This problem continues throughout the RDE1R. For instance, Chapter 1.0, Information, •
divides the NTS sites into five categories "that correspond to the level of planning information
available for the Sites and the status of locally approved CEQA documentation . . .. " The
five categories are: A -E. Category A is Existing Regional Facility sites and the text in this
section lists four sites: 46, 13, 39 and 27, RDE1R, 1 -3, while, as indicated above, the Executive
Summary states that there are three Existing Regional Facility Sites. To further confuse the
issue, Chapter 2.0, Plan Description, lists six categories; A -F. RDE1R, 2 -29.
This lack of consistency in the text and the tables should be corrected in the Final
RDE1R. In addition, the final document or the revised RDE1R should include an explanation of
the distinction between "regional' and "local' sites.
3. Chapter 1: Introduction:
Chapter 1 begins:
"This Revised Draft E1R has been prepared to address revisions and adjustments
to the NTS Master Plan and previous Draft E1R that resulted from public review
and comment on the Draft E1R issued March 2003."
RDE1R, 1 -1.
•
We have several comments on this opening statement. First, the NTS Master Plan was
• also issued for comment on March 2003. However, the RDEIR does not include the complete
and revised Master Plan; it includes only "key sections of the NTS Plan." As indicated below,
we recommend that Revised Master Plan be published with the Final RDEIR.
Second, the RDEIR fails to include and respond to earlier comments on the Original
DEIR. The Final RDEIR should include and respond to such earlier comments.
Third, Chapter 1 and the entire RDEIR employs key terms in an ambiguous fashion. For
instance, the Executive Summary discusses the Natural Treatment System ( "NTS ") Plan which
"consists of proposed improvements to assist managing the quality of surface
runoff within the San Diego Creek Watershed, an approximate 122 square mile
area located in central Orange County. The NTS Plan would result in treatment
of runoff from both existing development and new development within the two
watersheds."
Executive Summary, ES -1 (Emphasis supplied). However, Chapter 1 states
"The NTS Plan is known as the San Diego Creek Watershed Natural Treatment
System Master Plan, hereinafter referred to as the `NTS Plan' (March 2003)."
RDEIR, 1 -5; see also RDEIR, 1 -9. The Final RDEIR should define clearly the NTS Plan and the
• NTS Master Plan. Further, the Final RDEIR should also discuss and explain what two
watersheds which the Project proposes to address: the RDEIR appears to discuss only the San
Diego Creek Watershed and fails to discuss a second watershed.
Fourth, the RDEIR states:
"The Draft NTS Plan was available for public review during the 60 day review
period for the previous Draft EIR. A Revised NTS Plan will be available for
review after completion of public review period for this Revised Draft EIR.
Revised section of the NTS Plan are appended to this Revised Draft EIR to
facilitate an early review of key sections of the revised NTS Plan. In this way, it
can be assured that the Revised NTS Plan addresses any substantive comments
received during the public review period."
RDEIR, 1 -10. However, these "key sections" do not further describe the Project but include
operational components including operations and maintenance, monitoring and reporting plan,
and coordination and agreements.
Moreover, this truncated discussion of the NTS Master Plan is also troublesome.
Section 1.5 states:
"The NTS Plan has been prepared by the Irvine Ranch Water District (IRWD), a
California Water District, and constitutes the detailed project description."
•
RDEIR, 1 -9. This is problematic for several reasons: As indicated above, the RDEIR does not
include the entire NTS Master Plan; the District did not circulate the revised Master Plan for •
comment and review. That is, the "detailed project description" contained in the NTS Plan, i.e.
the March 2003 Master Plan, is not part of the RDEIR. Moreover, the detailed project
description will be revised based upon comments on the RDEIR so that "the Revised NTS Plan
addresses any substantive comments received during the public review period." RDEIR, 1 -10.
As discuss below, a project description forms the heart of an EIR and any environmental
analysis: it is supposed to describe fully the project under consideration. As discussed below, the
Final RDEIR should include the complete and detailed Project description, the Revised Master
Plan should be circulated with the Final RDEIR so that the public may understand the full scope
of the Project.
Pursuant to CEQA Guidelines section 15099.5, the RDEIR attempts to "summarize the
revisions made to the previously circulated draft EIR." RDEIR, 1 -2. However, the summary
merely sketches the changes: the Final RDEIR should include the summaries in detail in the
applicable sections.
Section 1.6 discusses the organization of the RDEIR. It is confusing. The RDEIR:
"has been tailored to analyze the NTS Facilities to the greatest level of detail
possible constrained only be the differing levels of project design and
development of information available for different NTS Facilities and based
upon anticipated phasing of wetland facility implementation."
RDEIR, 1 -15. The RDEIR analyzes some sites on a project level and others on a general and •
program level. However, as discussed below, these various levels create confusion on the
particular level of analysis.
4. Chapter 2.0: "`Plan' Description:"
The Project description is one of the key parts of any environmental
document. As the County of Invo Court noted long ago,
"Only through an accurate view of the project may affected outsiders and public
decision - makers balance the proposal's benefit against its environmental cost,
consider mitigation measures, assess the advantage of terminating the proposal
(i.e., the 'no project' alternative) and weigh other alternatives in the balance. An
accurate, stable and finite project description is the sine qua non of an informative
and legally sufficient EIR."
County of Invo v. City of Los Angeles (1977) 71 Cal. App. 3d 185, 199. In addition, the CEQA
Guidelines section 15124 requires that an EIR describe the project "in a way that will be
meaningful to the public, to the other reviewing agencies, and to the decision- makers."
Discussion, Guidelines section 15124.
•
At the outset and as indicated above, the RDEIR fails to meet this standard. As indicated
• above, the RDEIR defers preparation of the Project or Plan description until approval of the NTS
Master Plan. The Final RDEIR should incorporate a complete and full Project description,
prepare and finalize the Master Plan or NTS Plan, and allow full comment both the NTS Plan
and the RDEIR.
Also, as indicated above, the RDEIR as well as the Original DEIR dance a fine line
between program and project level analyses. The RDEIR attempts to characterize the Project as
a Plan with merely operational, not specifically construction, components. Again, the RDEIR
continues to the refer to the Project as the "NTS Plan," i.e. the Master Plan.
As indicated above, one of the RDEIR revisions mentioned above is the revised
categories of the proposed sites. Chapter 2.0 identifies these as:
Category A: Existing Regional Facilities (Sites 46, 13, 39, 27).
Category B: Sites with final approval by city local lead agency with previously
completed project level CEQA documentation and constructed or under
construction (Sites 31, 32, 49, 42).
Category C: Sites with final approval by city local lead agency with previously
completed project level CEQA documentation and not constructed (Sites
16, 18, 22, 50, 51, 52, 70a -70c, 71)
•
Category D: Sites addressed only in the NTS EIR (Regional Retrofit Facilities,
Sites 26, 53, 54, 55, 56, 62, 64, 67).
Category E: Sites for which applications will likely by filed and CEQA review pending
prior to completion of NTS CEQA review and with concurrent project
level CEQA review in the NTS EIR (Sites 9, 10, 11, 12A -12G, 61).
Category F: Sites for which applications and CEQA review will follow certification of
the RDEIR
(Sites 68 and
69A -69E— PA
18 and PA
39).
This categorical matrix may prove helpful but the categories are confusing. What are
"Regional Facilities ?" What are "Regional Retrofit Facilities ?" What is the difference between
the sites included in Category E and in Category F? Why is Category F included in the RDEIR?
For any sites with CEQA documentation, how does the RDEIR handle sites approved with
remaining significant impacts and requiring statements of overriding considerations? If the
• RDEIR concludes that various Project Facilities in Categories F, or F have no impact on the
environment, e.g. no impacts on air quality, then what level of analysis will the local agencies
responsible for the CEQA documentation for the facility perform? That is, what is the relation •
between the RDE1R and the subsequent CEQA documents for facilities in Categories E and F
which are necessary for facilities which have not yet received full CEQA review and approval?
What is the difference between existing conditions and the Category A -D sites?
As before, the Facilities consist of three main facility types: facilities in existing drainage
systems (1n- line), facilities off existing drainage systems (Off -line) and facilities which combine
both in -line and off -line features. In addition, the RDE1R includes a new selenium treatment
facility which is designed to treat selenium and which would be a "sub- surface flow wetland"
which would be designed "to pass water through organically rich and perpetually wet soils,
which would trap the selenium." Figure 2.5 -1a and b indicate that the selenium facility would be
a combined facility (both in line and off line).
As we indicated in our comments on the Original DE1R, any facilities which encroach on
the flood control drainage systems are problematic: they will reduce the capacity of crucial flood
control systems when drainage into those systems is increasing due to new development,
increased irrigation and run -off, and related factors. As indicated below, the RDE1R appears to
ignore these concerns: despite our earlier comments, the RDE1R regards flood control /drainage
impacts as insignificant.
The selenium site, Site 67, adds special concerns. The site would include:
" .. a bottom liner to restrict contact with the underlying oxygen -rich •
groundwater system. Periodic removal of soils would also be required."
RDE1R, 2 -19. However, the placement of the site near or in a drainage course would raise other
problems: in high flows, how is the site protected so that surface water, silt and other debris will
not flow into the site? Also in high flows, what prevents surface flows, silt and selenium
contaminated soils, and structural components, e.g. gravel and rocks, from entering the drainage
course?
Earlier we also commented on the site selection criteria. The RDE1R states that the first
criterion was site availability. However, site availability should be down on the list. A primary
criterion should be contribution or proximity to the San Diego Creek. For instance, Sites 53, 52
and 22 in the vicinity of El Toro, Sites 16, 71, 18, 70A -C, north and east of El Toro, are all well
outside any tributaries to San Diego Creek. Indeed, nothing in the RDE1R connects these sites to
the Creek. All other sites in the Project are in or near the Creek. The Final RDE1R should
include additional discussion on site selection and criteria, articulate new and different criteria
including proximity to drainage areas which flow into the Creek, and describe alternative sites.
As to the actual sites and the various categories, the RDE1R covers over seventy sites.
Obviously, the public cannot comment on all seventy sites. We offer comments on various
categories and where necessary on specific sites.
•
For Category A sites, "Existing Regional Facilities," the RDEIR adds no new sites; our
• earlier comments address these sites.
For Category B sites, "Sites with Final Approval /Constructed or under Construction,"
including sites 31, 32, 49, and 42, all of these have previously approved CEQA documents
including the EIR for residential development in and around Shady Canyon. For each site, the
EIR concluded that the Project, i.e. the construction of the site, would have significant and
unmitigated impacts on air quality for construction. In addition, the EIR discussion for Sites
31, 32, and 49 recognized that their construction would have significant and unmitigated impacts
on agriculture. For all of these, the City of Irvine adopted a Statement of Overriding
Considerations.
For Category C sites, "Sites with Final Approved/Not Constructed," including sites 16,
18, 22, 50, 51, and 52 and the new sites 70A -70C and 71, all have approved environmental
documents: Sites 16, 18, and the new sites 70A -70C and 71 were approved by the City of Irvine
as part of the Northern Sphere EIR; Sites 50, 51, 52, 70A -70C and 71 were all approved by the
City of Irvine as part of the Great Park EIR. For each site, the relevant EIR concluded that
the Project, i.e. the sites, would have significant and unmitigated impacts on air quality and
agricultural resources. For all of these, the City of Irvine adopted statements of overriding
considerations.
For Category E sites, Sites for which applications will likely be filed and with concurrent
project level analysis in the RDEIR, including sites 9, 11, 10, 12 (A -G) and 61, none of the sites
• have approved environmental documentation. However, the changed use —from agriculture to
drainage— for each site was in the City of Irvine EIR for the General Plan Amendment 16. As
before, the EIR recognized that the Project, changed use of the sites, could have significant and
unmitigated impacts on agriculture. The City of Irvine adopted a Statement of Overriding
Considerations for the project.
For Category F sites, Sites for which applications and approval will follow, including
sites 68 and 69A -69E, no environmental document has occurred. The RDEIR
"... provides only operations and maintenance level CEQA documentation.
Review of construction impacts under CEQA will be conducted when a specific
site has been selected."
RDEIR, 2 -66.
All of these raise several concerns. The Category B through E sites have CEQA
documents which recognize their potential for significant and unmitigated impacts. As discussed
below, for all sites, the Final RDEIR should include a cumulative impacts analysis in connection
with air quality and agricultural resources for on the Project sites and for the Project itself.
5. Chapter 3.0: Environmental Impact Analysis:
a. Section 3.1: Land Use/Planning and Land Use Compatibility.
•
This chapter lists the relevant planning programs and documents
that "govern the existing and future land uses for the proposed NTS sites and the areas •
surrounding these sites." Under the section dealing with the Clean Water Act, the RDEIR states
that "(f)or Site 16, permanent federal and state jurisdictional impacts were identified, and
mitigation for the loss of non - wetland waters was satisfied through the transfer of existing
wetlands credit from the San Joaquin Marsh Duck Pond Mitigation Bank." The RDEIR should
be revised and explain the transfer program, the nature and extent of the transfer of existing
wetlands credit program and how the transfer was used in connection with Site 16.
For a number of the "relevant planning programs and documents" that are listed in this
chapter, there is no discussion of how each program or document applies to the NTS Project; i.e.,
"Santa Ana River Basin Water Quality Control Plan (Basin Plan) (P. 3.1 -33)" and "Newport
Bay /San Diego Creek Watershed Management Study (P. 3.1 -36)." The Final RDEIR should
discuss how the Project has been impacted by these existing programs.
Site 27 is located in an existing "habitat mitigation area associated with the Barranca
Parkway Extension and San Diego Creek improvements project." The RDEIR states that the
modifications necessary to construct Site 27 do not include grading or removing any of the
existing mitigation plantings or habitat. However, "(t)he modification would raise the existing
outflow riser which would increase runoff retention and extend the residency time within the
low flow areas of the mitigation site for both dry weather and storm flows." RDEIR, 3.1 -46 The
Final RDEIR should discuss the impacts on the mitigation plantings of having a greater amount
of water for longer periods of time.
Site 62 is located immediately adjacent to an existing mitigation area. The DEIR •
concludes that "(t)he proposed modifications [for NTS Site 62] would not alter the function of
the adjacent SAMS 1 site as a habitat mitigation area and the changes are not considered
significant." RDEIR, 3.1 -49. The Final RDEIR should discuss the changes that will be made to
the existing mitigation area as a result of the construction of Site 62 and illustrate that they will
not alter the function of the existing mitigation area.
In assessing the Project's consistency with the City of Irvine's General Plan, Table 3.1 -3,
Land Use Policy Consistency Evaluation, in Appendix C states that Sites 46 and 62 are located
in areas that are designated as preservation areas in that document. "The only change at Site 46
would be to increase the current flow diversion rate from the San Diego Creek Channel to the
San Joaquin Marsh; however, this change would not preclude the Marsh from being a
preservation area." RDEIR, App. C, p. 7. The Final RDEIR should discuss and analyze how
the Marsh would be affected by an increase in the flow diversion rate, and to illustrate why "this
change would not preclude the Marsh from being a preservation area."
Table 3.1 -3 in Appendix C states that "(s)ite 56 will require 2.6 acres of the 9.5 acre El
Modena Park." However, Chapter 2.0, Plan Description, states that "(t)he NTS Facility [Site 56]
would be approximately 1.3 acres and would be located in the center of the 9.5 acre El Modena
Park." The Final EIR should correct this inconsistency.
b. Section 3.2: Hydrology and Water Quality.
•
Section 3.2.1 addresses the existing condition of the watershed
• including existing conditions for surface and ground water. This section recognizes the impaired
water quality of San Diego Creek and its watershed as well as water quality problems in
groundwater resources.
As noted above, Category A -D sites concern sites which are already constructed or are
already approved. The RDE1R fails to consider, discuss and analyze the existing conditions
including Category A -C existing and approved drainage sites regarding water quality of surface
and groundwater resources in the San Diego Creek Watershed. Because Category A -D sites are
already approved, these should be included as existing conditions of the watershed.
Further, Section 3.2 recognizes that the Upper Newport Bay, the terminus of the San
Diego Creek Watershed, is an estuary at which salt water and fresh water meet and mix. 1RWD
provides sewage collection and treatment services for most of the San Diego Creek Watershed,
and also accepts dry weather flows from some of the storm sewer systems. The purpose of the
Project is to treat urban water runoff in the San Diego Creek Watershed. 1RWD assumption for
the NTS is based on a total build -out of the San Diego Creek Watershed with a 68% urban use. It
currently is at a 50% urban use.
The RDE1R fails to discuss the Project's impacts on the estuary which is the Upper
Newport Bay including an analysis of the Project's impacts on the meeting and mixing of salt
and fresh water including analysis of Project impacts on water temperature and habitat in the
estuary. For instance, if the amount of fresh water is increased and disturbs the salinity of the
• Upper Newport Bay or if temperature difference disturbs the estuary balance, the estuary that is
the Upper Newport Bay will be seriously affected and perhaps destroyed.
Also, Section 3.2.3 addresses environmental impacts of the Project on water quality.
First, this section fails to recognize the existing conditions and includes existing and approved
sites in the impacts analysis. Such sites should be treated as existing conditions and any benefits
associated with such sites should be regarded as contributing to existing conditions.
Table 3.2 -9 summarizes Total Maximum Daily Loads for various constituents including
nitrogen, sediment, phosphorus, pathogens, insecticides, organochlorine compounds, selenium
and heavy metals. The Project has varied success for each constituent: the Project has limited
effect on phosphorus; for pathogens, the Project does not meet the regulatory standard; for
organochlorine compounds, the Project objective is not achieved; for selenium, the Project fails
to satisfy the regulatory standard.
The Final RDE1R should consider and discuss alternative systems including treatment
and reclamation of stormwater flows which may satisfy Project objectives but may be more
costly than the Project alternatives. This will allow the District to conduct a cost benefit analysis
to resolve and choose the Project alternatives.
As for the Category D sites, Regional Retrofit Sites, the RDE1R addresses construction,
maintenance and operation impacts for such sites. As for construction impacts, the RDE1R states
isthat such impacts are short term in nature and must comply with various regulatory requirements.
Five of these sites (27, 53, 54, 62, 67) are in -line sites where construction impacts may have
immediate and substantial affects. The RDEIR contains no detailed discussions of such impacts. •
The Final RDEIR should discuss and address all such impacts and, if necessary, propose
mitigation.
Further, Site 67's configuration and location remain uncertain. The RDEIR cannot
evaluate the nature and extent of the site's impacts when the site configuration and location
remain in question. Upon finalizing the specifics of Site 67, the Final RDEIR should include
discussion of the impacts of the fully described Site 67 and propose necessary mitigation.
Likewise, Category E sites, sites for which applications are likely, and Category F sites
have no specifics: their configuration and location are uncertain. Upon finalizing their specifics,
the Final RDEIR should include a discussion of the impacts of the fully described Category E
and F sites and propose necessary mitigation.
C. Section 33: Biological Resources.
Section 3.3.1, Existing Conditions states that "[b]iological
resources within the San Diego Creek Watershed are governed by several regulatory agencies
and applicable statutes and guidelines for which they are responsible ...... RDEIR, 3.3 -1.
Among the statutes and guidelines discussed in this section as having governing authority over
impacts to the biological resources within each NTS site is the Special Area Management Plan
(SAMP), which is currently being developed by the U.S. Army Corps of Engineers for the San
Diego Creek. •
According to the RDEIR, the SAMP is a "comprehensive aquatic resources plan to
achieve a balance between aquatic resource protection and reasonable economic development."
The DEIR states that IRWD will seek authorization for construction of the some NTS sites,
which are planned for future development, under the SAMP program instead of the traditional
Section 404 permitting process.
However, the standards for the SAMP program are still under development. If those
standards are to be used as governing authority over impacts to the biological resources within
each NTS site planned for future development, it is necessary to allow the SAMP standards to be
finalized before a determination can be made that the NTS Plan is consistent with that program
and, therefore, Corps permitting of the NTS sites would be governed by SAMP instead of the
traditional Section 404 permitting process. The Final RDEIR should discuss and allow for the
finalization of the SAMP standards.
The Biological Resources Technical Study contains a confusing typographical error. The
heading for Section 1.2.1 is "Existing Regional Retrofit NTS Facility Sites as 31, 32, 49 and 42."
However, the correct sites for this category are Sites 13, 39 and 46, which are discussed in the
text that follows.
d. Section 3.5: Air Quality.
•
Section 3.5.1 discusses existing conditions for the Project area. As
• indicated above, numerous sites have received environmental review and approval, and many
have been built. However, the environmental documents for most of these sites recognized that
those projects had significant and unmitigated impacts on air quality. Section 3.5.1 contains no
discussion of these earlier documents and the significant and unmitigated impacts as existing
conditions.
More importantly for the RDEIR, Section 3.5.3 covers the environmental analysis for
Project related air quality impacts. Section 3.5.4 sets forth mitigation measures for Project
related air quality impacts. Section 3.5.5 concludes that the Project will have significant impacts
on air quality.
Given Chapter 2's discussion of Category A -C sites, the RDEIR conclusion is surprising.
Many sites previously analyzed were found to have significant and unmitigated impacts on air
quality and required adoption of statements of overriding consideration. The Final RDEIR
should discuss the earlier environmental analysis, explain how the Project sites are different if at
all, discuss the Project impacts consistently with the earlier analysis for the Category A -C sites,
and, if necessary, propose necessary mitigation.
6. Chapter 4.0: Cumulative Impacts.
Chapter 4 begins with a discussion of Guidelines section 15130 and recent
case law interpreting the requirements of section 15130. Under Air Quality, the RDEIR
• considers the maximum worst case scenario for the Project together with the air quality impacts
for the Northern Sphere Project. As noted above, the Northern Sphere EIR recognized that that
project would result in significant and unmitigated air quality impacts. The RDEIR concludes
that the air quality impacts of the Project are minimal and would not increase the impacts of the
Northern Sphere project significantly. Further, RDEIR recognizes that it is unlikely that the
Project site would not be constructed at the same time as those in the Northern Sphere project.
However, as indicated above, the RDEIR's analysis of Project related air quality impacts
is optimistic: given the impacts recognized by the other environmental documents for the Shady
Canyon, Great Park and the Northern Sphere sites, the Project sites may have similar significant
and unmitigated impacts.
Further, the environmental documents for the other Category B and C sites involving the
Great Park EIR and the EIR for the Shady Canyon sites recognized that construction of those
sites would also have significant and unmitigated impacts on air quality. The Final RDEIR
should discuss and consider the cumulative impacts on air quality of all projects for Category B
and C sites together with the Project sites and, if necessary, propose mitigation for such
cumulative impacts.
As for cumulative impacts on water quality, the RDEIR recognizes that the Project may
have cumulative impacts on water quality but concludes that the Project related benefits "will be
more than offset by the cumulative reduction benefits" of the Project. As indicated above, the
RDEIR misstates the existing conditions: many of the alleged Project related benefits are
•
existing benefits which already affect the San Diego Creek Watershed. The Final RDEIR should
discuss and consider the existing conditions of the watershed including existing or approved •
Project sites, evaluate Project impacts in relation to Project benefits if any.
In addition, as indicated below and in our earlier comments on the Original DE1R, the
Project may have significant impacts on flood control resources. As discussed above, the
RDEIR recognizes that the Project may have significant cumulative impacts from sediment and
erosion. However, these impacts — sediment and erosion— may also significantly and adversely
affect flood control resources; the cumulative impacts of the Project construction may increase
such impacts. The Final RDEIR should address and discuss such cumulative impacts on flood
control resources and, if necessary, propose adequate mitigation.
7. Chapter 5.0: Alternatives.
As indicated above, a Project alternative is treatment and reclamation of
stormwater flows. The RDEIR considers three technological alternatives including diversion of
San Diego Creek flows to Orange County Sanitation District Facilities for treatment,
construction and treatment at a new facility at Michelson Water Reclamation, construction for
four new sites for treatment of low flows. Each is rejected because of water loss and habitat
impacts.
However, the RDEIR fails to complete the analysis: reclaiming the storm water. The
reclaimed water could be sold for irrigation and supplement water purchased for benefit of
habitat and biological resources. The Final RDEIR should consider and assess this Project
alternative, and if appropriate, propose necessary mitigation. •
8. Chapter 6.0: Long -Term Environmental Effects.
Chapter 6 recognizes that the Project is "growth accommodating."
However, it concludes that the Project will not induce growth because Project sites are located in
areas "that are either currently urbanized or already approved for urbanization." RDEIR, 6 -1.
However, as suggested above, this may prove too much: the Project is not really a project at all:
all Project sites are existing or planned, and therefore part of the existing conditions of the San
Diego Creek Watershed.
However, the rationale for RDE1R's conclusion of no growth inducement— because the
sites are in areas already urbanized or approved for urbanization— fails with respect to Category
F sites: "None of these sites are located in an area with previously approved CEQA
documentation." RDEIR, 2 -65. Given that the RDEIR includes such sites, the Project may be
growth inducing.
The Final RDEIR should discuss and address the growth inducing impacts of the
Category F sites and, if necessary, propose adequate mitigation.
9. Chapter 7.0: Effects Found Not to be Significant.
•
Chapter 7.0 addresses Project related impacts which the RDEIR regards as
is insignificant. These include: Flood Control; Noise; Traffic; Population and Housing;
Geology /Soils; Paleontology; Mineral Resources; and Public Services/Utilities.
As to Flood Control, we repeat our earlier comments on the Original DEIR, the Project
Facilities in particular the in -line facilities may adversely affect flood control resources including
taking flood control capacity, adversely affecting flood control capacity with silt buildup, impede
the efficiency of flood control resources and related affects. The Final RDEIR should remove
flood control from the insignificant effects, address and analyze such impacts, and, if necessary,
propose adequate mitigation.
is
•
DRAFT
CITY OF NEWPORT BEACH
OFFICE OF THE MAYOR
Mayor
Tod W. Ridgeway
February 25, 2004
Mayor Pro Tem
Garold B. Adams
Council Members
Steven Bromberg
Mr. Norris Brandt
John Heffernan
Assistant to the General Manager
Richard A. Nichols
Irvine Ranch Water District
Steven Rosansky
15600 Sand Canyon Avenue
Don Webb
Irvine, CA 92618
Revised Draft Environmental Impact Report
San Diego Creek Watershed Natural Treatment System Project
Dear Mr. Brandt:
Thank you for the opportunity to comment on the REVISED Draft
Environmental Impact Report ( "RDEIR ") for the captioned Project. As indicated
in our earlier comments on the original Draft Environmental Impact Report
( "Original DEIR ") for the Project, the City of Newport Beach supports any
project which will improve water quality in the Upper Newport Bay. As before,
nothing in these comments detracts from that support; our goal is to assist in
improving the environmental document and the Project.
These comments on the RDEIR specifically and generally incorporate our
earlier comments on the Original DEIR for the Project. In addition, we offer the
following comments on the RDEIR. These comments are based on review of the
RDEIR by our Environmental Quality Affairs Citizens Advisory Committee
(EQAC); they were approved by EQAC at their meeting of February 17 and by
the City Council on February 24, 2004.
The City appreciates IRWD's willingness to share the planning and
environmental documents on this Project with EQAC members, as well as the
time you spent with EQAC and its subcommittee, which helped them to
understand the Project and the environmental documents.
1. Introduction.
•
At the outset, we note that the Project and its description is a mix of
existing and proposed facilities together with operational protocols for the
facilities. However, the existing and approved facilities (Category A -D sites) •
together with their operational protocols are part of the existing hydrologic
City Hall • 3300 Newport Boulevard • Post Office Box 1768
Newport Beach, California 92658 -8915 • www.city.newport- beach.ca.us
(949) 644 -3004
Mr. Norris Brandt
• February 25, 2004
Page 2
conditions of the San Diego Creek Watershed. The inclusion of these existing
conditions and protocols in the Project description make it difficult to understand
exactly what the Project is. We discuss this problem at several points in our
comments below. The Final REIR should recognize this issue, and more clearly
explain and describe the full nature and extent of the Project.
2. Executive Summary:
The entire RDEIR has a problem similar to the Original DEIR: the number
of s ites a nd t he d iffering 1 evels o f a nalysis a re confusing, and t he t ext and t he
tables do not match. For example, in the Executive Summary, we are told that
there are eight Regional Retrofit Facility sites:
"This Revised Draft EIR also includes detailed environmental
analyses of eight NTS Regional Retrofit Facility Site and three
Existing Regional Facility Sites for which construction level
design and/or development information, as appropriate to each
facility type, is available. One of the Regional Retrofit Facilities
• (Site 67) is evaluated herein at the Program level of environmental
analysis since the specific location and design is currently
conceptual and is anticipated to be determined in the future."
RDEIR, ES -5. However, Table ES -1 on the next page lists nine Regional Retrofit
Facility sites, including Site 67.
In addition, Table ES -1 shows three Existing Regional Facility sites, 46, 13 and
39. However, Table 2.5 -1 in the Plan Description chapter shows four Existing
Regional Facility sites, adding Site 27. RDEIR, 2 -25.
This problem continues throughout the RDEIR. For instance, Chapter 1.0,
Information, divides the NTS sites into five categories "that correspond to the
level of planning information available for the Sites and the status of locally
approved CEQA documentation . .. The five categories are: A -E.
Category A is Existing Regional Facility sites and the text in this section lists four
sites: 46, 13, 39 and 27, RDEIR, 1 -3, while, as indicated above, the Executive
Summary states that there are three Existing Regional Facility Sites. To further
confuse the issue, Chapter 2.0, Plan Description, lists six categories; A -F.
RDEIR, 2 -29.
This lack of consistency in the text and the tables should be corrected in
the Final REIR. In addition, the final document should include an explanation of
• the distinction between `regional" and "local' sites.
Mr. Norris Brandt
February 25, 2004 •
Page 3
3. Chapter 1: Introduction:
Chapter 1 begins:
"This Revised Draft EIR has been prepared to address revisions
and adjustments to the NTS Master Plan and previous Draft EIR
that resulted from public review and comment on the Draft EIR
issued March 2003."
RDEIR, 1 -1.
We have several comments on this opening statement. First, the RDEIR
fails to include and respond to earlier comments on the Original DEIR. The Final
REIR should include and respond to such earlier comments.
Second, Chapter 1 and the entire RDEIR employ key terms in an
ambiguous fashion. For instance, the Executive Summary discusses the Natural
Treatment System ( "NTS ") Plan which
"consists of proposed improvements to assist managing the quality •
of surface runoff within the San Diego Creek Watershed, an
approximate 122 square mile area located in central Orange
County. The NTS Plan would result in treatment of runoff from
both existing development and new development within the two
watersheds."
Executive Summary, ES -1 (Emphasis supplied). However, Chapter 1 states
"The NTS Plan is known as the San Diego Creek Watershed
Natural Treatment System Master Plan, hereinafter referred to as
the `NTS Plan' (March 2003)."
RDEIR, 1 -5; see also RDEIR, 1 -9. The Final REIR should discuss and explain
what two watersheds the Project proposes to address: the RDEIR appears to
discuss only the San Diego Creek Watershed and fails to discuss a second
watershed.
Third, pursuant to CEQA Guidelines section 15099.5, the RDEIR attempts
to "summarize the revisions made to the previously circulated draft EIR."
RDEIR, 1 -2. However, the summary merely sketches the changes; the Final
REIR should include the summaries in detail in the applicable sections.
Fourth, Section 1.6 discusses the organization of the RDEIR, which is •
confusing. The RDEIR:
Mr. Norris Brandt
• February 25, 2004
Page 4
"has been tailored to analyze the NTS Facilities to the greatest
level of detail possible constrained only be the differing levels of
project design and development of information available for
different NTS Facilities and based upon anticipated phasing of
wetland facility implementation."
RDEIR, 1 -15. The RDEIR analyzes some sites on a project level and others on a
general and program level. H owever, as discussed below, these various levels
create confusion on the particular level of analysis.
4. Chapter 2.0: "`Plan' Description:"
The CEQA Guidelines section 15124 requires that an EIR describe the
project " in a w ay t hat will b e m eaningful t o t he p ublic, t o t he o ther r eviewing
agencies, and to the decision - makers." Discussion, Guidelines section 15124.
As indicated above, the RDEIR as well as the Original DEIR, dance a fine
line between program and project level analyses. The RDEIR attempts to
characterize the Project as a Plan with merely operational, not specifically
• construction, components. Again, the RDEIR continues to refer to the Project as
the "NTS Plan," i.e. the Master Plan.
Yet one of the RDEIR revisions is the revised categories of the proposed
sites. Chapter 2.0 identifies these as:
Category A: Existing Regional Facilities (Sites 46, 13, 39, 27).
Category B: Sites with final approval by city local lead agency with
previously completed project level CEQA documentation
and constructed or under construction (Sites 31, 32, 49, 42).
Category C: Sites with final approval by city local lead agency with
previously completed project level CEQA documentation
and not constructed (Sites 16, 18, 22, 50, 51, 52, 70a -70c,
71)
Vateeg D: Sites addressed only in the NTS EIR (Regional Retrofit
act > Sites 26, 53, 54, 55, 56, 62, 64, 67).
Category E: Sites for which applications will likely by filed and CEQA
review pending prior to completion of NTS CEQA review
and with concurrent project level CEQA review in the NTS
EIR (Sites 9, 10, 11, 12A -12G, 61).
•
Mr. Norris Brandt
February 25, 2004
Page 5 •
Category F: Sites for which applications and CEQA review will follow
certification of the RDEIR (Sites 68 and 69A -69E— PA 18
and PA 39).
This categorical matrix may prove helpful but the categories are
confusing. What are "Regional Facilities ?" What are "Regional Retrofit
Facilities ?" What is the difference between the sites included in Category E and
in Category F? Why is Category F included in the RDEIR? For any sites with
CEQA documentation, how does the RDEIR handle sites approved with
remaining significant impacts and requiring statements of overriding
considerations? If the RDEIR concludes that various Project Facilities in
Categories E or F have no impact on the environment, e.g. no impacts on air
quality, then what level of analysis will the local agencies responsible for the
CEQA documentation for the facility perform? That is, what is the relation
between the RDEIR and the subsequent CEQA documents for facilities in
Categories E and F, which are necessary for facilities which have not yet received
full CEQA review and approval? What is the difference between existing
conditions and the Category A -D sites?
As before, the Facilities consist of three main facility types: facilities in •
existing drainage systems (In- line), facilities off existing drainage systems (Off-
line) and facilities which combine both in -line and off-line features. In addition,
the RDEIR includes a new selenium treatment facility which is designed to treat
selenium and which would be a "sub- surface flow wetland" which would be
designed "to pass water through organically rich and perpetually wet soils, which
would trap the selenium." Figure 2.5 -1a and b indicate that the selenium facility
would be a combined facility (both in line and off line).
As we indicated in our comments on the Original DEIR, any facilities
which encroach on the flood control drainage systems are problematic: they will
reduce the capacity of crucial flood control systems when drainage into those
systems is increasing due to new development, increased irrigation and run -off,
and related factors. As indicated below, the RDEIR appears to ignore these
concerns: despite our earlier comments, the RDEIR regards flood control/drainage
impacts as insignificant.
The selenium site, Site 67, adds special concerns. The site would include:
" ... a bottom liner to restrict contact with the underlying oxygen -
rich groundwater system. Periodic removal of soils would also be
required."
RDEIR, 2 -19. However, the placement of the site near or in a drainage course •
would raise other problems: in high flows, how is the site protected so that surface
Mr. Norris Brandt
• February 25, 2004
Page 6
water, silt and other debris will not flow into the site? Also in high flows, what
prevents surface flows, silt and selenium contaminated soils, and structural
components, e.g. gravel and rocks, from entering the drainage course?
Earlier we also commented on the site selection criteria. The RDEIR
states that the first criterion was site availability. However, site availability
should be down on the list. A primary criterion should be contribution or
proximity to the San Diego Creek. For instance, Sites 53, 52 and 22 in the
vicinity of El Toro, Sites 16, 71, 18, 70A -C, north and east of El Toro, are all well
outside any tributaries to San Diego Creek. Indeed, nothing in the RDEIR
connects these sites to the Creek. All other sites in the Project are in or near the
Creek. The Final RDEIR should include additional discussion on site selection
and criteria, articulate new and different criteria including proximity to drainage
areas which flow into the Creek, and describe alternative sites.
As to the actual sites and the various categories, the RDEIR covers over
seventy sites. Obviously, the public cannot comment on all seventy sites. We
offer comments on various categories and where necessary on specific sites.
• For Category A sites, "Existing Regional Facilities," the RDEIR adds no
new sites; our earlier comments address these sites.
For Category B sites, "Sites with Final Approval/Constructed or under
Construction," including sites 31, 32, 49, and 42, all of these have previously
approved CEQA documents including the EIR for residential development in and
around Shady Canyon. For each site, the EIR concluded that the Project, i.e.
the construction of the site, would have significant and unmitigated impacts
on air quality for construction. In addition, the EIR discussion for Sites 31, 32,
and 49 recognized that their construction would have significant and unmitigated
impacts on agriculture. For all of these, the City of Irvine adopted a Statement of
Overriding Considerations.
For Category C sites, "Sites with Final Approved/Not Constructed,"
including sites 16, 18, 22, 50, 51, and 52 and the new sites 70A -70C and 71, all
have approved environmental documents: S ites 16, 18, and the n ew sites 7 OA-
70C and 71 were approved by the City of Irvine as part of the Northern Sphere
EIR; Sites 50, 51, 52, 70A -70C and 71 were all approved by the City of Irvine as
part of the Great Park EIR. For each site, the relevant EIR concluded that the
Project, i.e. the sites, would have significant and unmitigated impacts on air
quality and agricultural resources. For all of these, the City of Irvine adopted
statements of overriding considerations.
• For Category E sites, Sites for which applications will likely be filed and
with concurrent project level analysis in the RDEIR, including sites 9, 11, 10, 12
Mr. Norris Brandt
February 25, 2004
Page 7
(A -G) and 61, none of the sites have approved environmental documentation.
However, the changed use —from agriculture to drainage— for each site was in the
.City of Irvine EIR for the General Plan Amendment 16. As before, the EIR
recognized that the Project, changed use of the sites, could have significant and
unmitigated impacts on agriculture. The City of Irvine adopted a Statement of
Overriding Considerations for the project.
For Category F sites, Sites for which applications and approval will
follow, including sites 68 and 69A -69E, no environmental document has
occurred. The RDEIR
. . provides only operations and maintenance level CEQA
documentation. Review of construction impacts under CEQA will
be conducted when a specific site has been selected."
RDEIR, 2 -66.
•
All of these raise several concerns. The Category B through E sites have
CEQA documents which recognize their potential for significant and unmitigated
impacts. As discussed below, for all sites, the Final RDEIR should include a •
cumulative impacts analysis in connection with air quality and agricultural
resources for the Project sites and for the Project itself.
5. Chapter 3.0: Environmental Impact Analysis:
a. Section 3.1: Land Use /Planning and Land Use Compatibility.
Site 27 is located in an existing "habitat mitigation area associated with
the Barranca Parkway Extension and San Diego Creek improvements project."
The R DEIR s tates t hat t he in odi fications n ecessary t o construct S ite 2 7 d o n of
include grading or removing any of the existing mitigation plantings or habitat.
However, "(t)he modification would raise the existing outflow riser which would
increase runoff retention and extend the residency time within the low flow areas
of the mitigation site for both dry weather and storm flows." RDEIR, 3.1 -46 The
Final R EIR s hould d iscuss t he i mpacts o n t he mitigation p lantings o f having a
greater amount of water for longer periods of time.
Site 62 is located immediately adjacent to an existing mitigation area. The
DEIR concludes that "(t)he proposed modifications [for NTS Site 62] would not
alter the function of the adjacent SAMS 1 site as a habitat mitigation area and the
changes are not considered significant." RDEIR, 3.1 -49. The Final REIR should
discuss the changes that will be made to the existing mitigation area as a result of
the construction of Site 62 and illustrate that they will not alter the function of the •
existing mitigation area.
Mr. Norris Brandt
• February 25, 2004
Page 8
In assessing the Project's consistency with the City of Irvine's General
Plan, Table 3.1 -3, Land Use Policy Consistency Evaluation, in Appendix C states
that Sites 46 and 62 are located in areas that are designated as preservation areas
in that document. "The only change at Site 46 would be to increase the current
flow diversion rate from the San Diego Creek Channel to the San Joaquin Marsh;
however, this change would not preclude the Marsh from being a preservation
area." RDEIR, App. C, p. 7. The Final RDEIR should discuss and analyze how
the Marsh would be affected by an increase in the flow diversion rate, and to
illustrate why "this change would not preclude the Marsh from being a
preservation area."
Table 3.1 -3 in Appendix C states that "(s)ite 56 will require 2.6 acres of
the 9.5 acre El Modena Park." However, Chapter 2.0, Plan Description, states
that "(t)he NTS Facility (Site 561 would be approximately 1.3 acres and would be
located in the center of the 9.5 acre El Modena Park." The Final REIR should
correct this inconsistency.
b. Section 3.2: Hydrology and Water Quality.
• Section 3.2.1 addresses the existing condition of the watershed including
existing conditions for surface and ground water. This section recognizes the
impaired water quality of S an Diego Creek and its watershed as w ell as water
quality problems in groundwater resources.
As noted above, Category A -D sites are already constructed or are already
approved; these should be included as existing conditions of the watershed.
Further, Section 3.2 recognizes that the Upper Newport Bay, the terminus
of the San Diego Creek Watershed, is an estuary at which salt water and fresh
water meet and mix. The RDEIR fails to discuss the Project's impacts on the
estuary and on the meeting and mixing of salt and fresh water including analysis
of Project impacts on water temperature and habitat in the estuary. For instance,
if the amount of fresh water is increased and disturbs the salinity of the Upper
Newport Bay or if temperature difference disturbs the estuary balance, the estuary
that is the Upper Newport Bay could be seriously affected.
Also, Section 3.2.3 addresses environmental impacts of the Project on
water quality. First, this section fails to recognize the existing conditions and
includes existing and approved sites in the impacts analysis. Such sites should be
treated as existing conditions and any benefits associated with such sites should
be regarded as contributing to existing conditions.
• As for the Category D sites, Regional Retrofit Sites, the RDEIR addresses
construction, maintenance and operation impacts for such sites. As for
Mr. Norris Brandt
February 25, 2004
Page 9 •
construction impacts, the RDEIR states that such impacts are short term in nature
and must comply with various regulatory requirements. Five of these sites (27,
53, 54, 62, 67) are in -line sites where construction impacts may have immediate
and substantial affects. The RDEIR contains no detailed discussions of such
impacts. The Final REIR should discuss and address all such impacts and, if
necessary, propose mitigation.
Further, Site 67's configuration and location remain uncertain. The
RDEIR cannot evaluate the nature and extent of the site's impacts when the site
configuration and location remain in question. Upon finalizing the specifics of
Site 67, the Final REIR should include discussion of the impacts of the fully
described Site 67 and propose necessary mitigation.
Likewise, Category E sites, sites for which applications are likely, and
Category F sites have no specifics: their configuration and location are uncertain.
Upon finalizing their specifics, the Final REIR or a subsequent environmental
document should include a discussion of the impacts of the fully described
Category E and F sites and propose necessary mitigation.
c. Section 33: Biological Resources. •
Section 3.3.1, Existing Conditions states that "[bliological resources
within the San Diego Creek Watershed are governed by several regulatory
agencies and applicable statutes and guidelines for which they are responsible
RDEIR, 3.3 -1. Among the statutes and guidelines discussed in this section
as having governing authority over impacts to the biological resources within
each NTS site is the Special Area Management Plan (SAMP), which is currently
being developed by the U.S. Army Corps of Engineers for the San Diego Creek.
According to the RDEIR, the SAMP is a "comprehensive aquatic
resources plan to achieve a balance between aquatic resource protection and
reasonable economic development." The DEIR states that IRWD will seek
authorization for construction of the some NTS sites, which are planned for future
development, under the SAMP program instead of the traditional Section 404
permitting process.
However, the standards for the SAMP program are still under
development. If those standards are to be used as governing authority over
impacts to the biological resources within each NTS site planned for future
development, it is necessary to allow the SAMP standards to be finalized before a
determination can be made that the NTS Plan is consistent with that program and,
therefore, Corps permitting of the NTS sites would be governed by SAMP instead •
of the traditional Section 404 permitting process. The Final REIR should discuss
and allow for the finalization of the SAMP standards.
Mr. Norris Brandt
• February 25, 2004
Page 10
The Biological Resources Technical Study contains a confusing
typographical error. The heading for Section 1.2.1 is "Existing Regional Retrofit
NTS Facility Sites as 31, 32, 49 and 42." However, the correct sites for this
category are Sites 13, 39 and 46, which are discussed in the text that follows.
d. Section 3.5: Air Quality.
Section 3.5.1 discusses existing conditions for the Project area. As
indicated above, numerous sites have received environmental review and
approval, and many have been built. However, the environmental documents for
most of these sites recognized that those projects had significant and unmitigated
impacts on air quality. Section 3.5.1 contains no discussion of these earlier
documents and the significant and unmitigated impacts as existing conditions.
More importantly for the RDEIR, Section 3.5.3 covers the environmental
analysis for Project related air quality impacts. Section 3.5.4 sets forth mitigation
measures for Project related air quality impacts. Section 3.5.5 concludes that the
Project will have significant impacts on air quality.
• Given Chapter 2's discussion of Category A -C sites, the RDEIR
conclusion is surprising. Many sites previously analyzed were found to have
significant and unmitigated impacts on air quality and required adoption of
statements of overriding consideration. The Final REIR should discuss the earlier
environmental analysis, explain how the Project sites are different if at all, discuss
the Project impacts consistently with the earlier analysis for the Category A -C
sites, and, if necessary, propose necessary mitigation.
6. Chapter 4.0: Cumulative Impacts.
Chapter 4 begins with a discussion of Guidelines section 15130 and recent
case law interpreting the requirements of section 15130. Under Air Quality, the
RDEIR considers the maximum worst -case scenario for the Project together with
the air quality impacts for the Northern Sphere Project. As noted above, the
Northern Sphere EIR recognized that that project would result in significant and
unmitigated air quality impacts. The RDEIR concludes that the air quality
impacts of the Project are minimal and would not increase the impacts of the
Northern Sphere project significantly. Further, the RDEIR recognizes that it is
unlikely that the Project site would be constructed at the same time as those in the
Northern Sphere project.
However, as indicated above, the RDEIR's analysis of Project related air
• quality impacts is optimistic: given the impacts recognized by the other
environmental documents for the Shady Canyon, Great Park and the Northern
Sphere sites, the Project sites may have similar significant and unmitigated
Mr. Norris Brandt
February 25, 2004 •
Page 11
impacts.
Further, the environmental documents for the other Category B and C sites
involving the Great Park EIR and the EIR for the Shady Canyon sites recognized
that construction of those sites would also have significant and unmitigated
impacts on air quality. The Final RDEIR should discuss and consider the
cumulative impacts on air quality of all projects for Category B and C sites
together with the Project sites and, if necessary, propose mitigation for such
cumulative impacts.
As for cumulative impacts on water quality, the RDEIR recognizes that
the Project may have cumulative impacts on water quality but concludes that the
Project related benefits "will be more than offset by the cumulative reduction
benefits" of the Project. As indicated above, the RDEIR misstates the existing
conditions: many of the assumed Project related benefits are existing benefits
which already affect the San Diego Creek Watershed. The Final REIR should
discuss and consider the existing conditions of the watershed including existing or
approved Project sites, and then evaluate Project impacts in relation to Project
benefits if any.
In addition, as indicated below and in our earlier comments on the •
Original DEIR, the Project may have significant impacts on flood control
resources. As discussed above, the RDEIR recognizes that the Project may have
significant cumulative impacts from sediment and erosion. However, these
impacts — sediment and erosion— may also significantly and adversely affect flood
control resources; the cumulative impacts of the Project construction may increase
such impacts. The Final REIR should address and discuss such cumulative
impacts on flood control resources and, if necessary, propose adequate mitigation.
7. Chapter 6.0: Lone -Term Environmental Effects.
Chapter 6 recognizes that the Project is "growth accommodating."
However, it concludes that the Project will not induce growth. The rationale for
this conclusion — because the sites are in areas already urbanized or approved for
urbanization —is not appropriate with respect to Category F sites: "None of these
sites are located in an area with previously approved CEQA documentation."
RDEIR, 2 -65. Given that the RDEIR includes such sites, the Project may be
growth inducing.
The Final RDEIR should discuss and address the growth inducing impacts
of the Category F sites and, if necessary, propose adequate mitigation.
Mr. Norris Brandt
February 25, 2004
•
Page 12
8. Chapter 7.0: Effects Found Not to be Significant.
Chapter 7.0 addresses Project related impacts which the RDEIR regards as
insignificant. These include: Flood Control; Noise; Traffic; Population and
Housing; Geology /Soils; Paleontology; Mineral Resources; and Public
Services/Utilities.
As to Flood Control, we repeat our earlier comments on the Original
DEIR, the Project Facilities in particular the in -line facilities may adversely affect
flood control resources including taking flood control capacity, adversely
affecting flood control capacity with silt buildup, impede the efficiency of flood
control resources and related affects. The Final REIR should consider removing
flood control from the insignificant effects by addressing and analyzing such
impacts, and, if necessary, proposing adequate mitigation.
The City appreciates IRWD'songoing efforts o n the Project, which we
believe will have positive impacts on water quality. In particular, we thank you
for the continuing opportunity to review environmental analysis o f the Project,
and hope that our comments are helpful to a successful outcome for the Project.
is If you have any questions on these comments, please call Assistant City Manager
haron Wood at 644 -3222.
Sincerely,
Tod W. Ridgeway
Mayor
cc: Environmental Quality Affairs Committee
•