HomeMy WebLinkAbout01 - 06_RTC Part 6Banning Ranch EIR
onses to Comments
Comment Letter O88a
Alford, Patrick
From: Dave Sutherland Idavesutherland4 @gmail.comj
Sent: Sunday, November 06, 20119:44 AM
To: Alford, Patrick
Subject: Banning Ranch dEIR Response
Mr Patrick Alford,
City of Newport Beach
Newport Beach, Ca 92663
Regarding the dEIR on the Banning Ranch Development
Dear Mr. Alford, I have several questions and concerns regarding this proposed
development. These questions are as follows and all will be prefixed with a ? mark:
? If there is a way to reduce the harmful emmissions and the negative atmospheric
effects that are expected during construction and afterwards, would it not be prudent to
employ these methods in order to avoid the "significant and unavoidable" consequences?
ref: page 4.10 -28 Table 4.10 -6 pg 4.10 -29 Threshold 4.10 -4
As resident and and tax payer in Newport Beach, would it not be prudent and more
cost effective to improve construction techniques now, rather than face the impending
myriad of health and legal issues that will surely arise in the future from failing to
implement such known techniques? I speak of the Tier 3 vs Tier 4 Diesel machinery to
be used. It is mentioned on page 4.10 -29 that the availability of Tier 4 can not be
assured. ? Is it not a reasonable request to ask that these devices be "Assured "?
? Is it not the responsibility of the of the City to protect the people especially when it is
within its power to do so?
Sincerely,
Dave Sutherland
12 Summerwind Ct Newport Beach, Ca 92663
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Letter O88a Dave Sutherland
November 6, 2011
Response1
Please refer to Topical Response: Air Quality, with respect to nitrogen oxides emissions during
construction, which explains that the Project has been revised to include Tier 4 construction
equipment and NOx emissions would be less than significant with the concurrent remediation
and grading activities. With respect to Threshold 4.10 -4, the potential impacts to sensitive
receptors were all found to be less than significant.
Response 2
Please refer to the response to Comment 1
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Comment Letter 088b
Alford, Patrick
From:
Dave Sutherland fdavesutherland4@9mail . coml
Sent:
Sunday, November 06, 20119:59 AM
To:
Alford, Patrick
Subject:
Comments on dEIR Banning Ranch
Mr. Patrick Alford
City of Newport Beach
Newport Beach, Ca 92663
Reference: page 4.10 -23
If as stated the long term operational emissions "In 2023, calculated regional emissions
of VOC, NOx and CO resulting from Project operation would exceed the SCAQMD CEQA
significant thresholds." primarily due to vehicles operations, is this not an admission that
the Project as currently proposed is too large? The long term effects of this Project are
unacceptable for the residents of this area who will have to live with the adverse
Dave Sutherland
12 Summerwind Ct
Newport Beach, Ca 92663
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Letter O88b Dave Sutherland
November 6, 2011
Response1
While the 2023 operational emissions are forecasted to exceed the SCAQMD CEQA thresholds,
this is a regional impact. There would be no significant impact to local residents. The
commenter's opinions regarding the size of the Project are noted.
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Comment Letter 088c
Alford, Patrick
From:
Dave Sutherland Idavesutherland4 @gmail.comj
Sent:
Sunday, November 06, 2011 10:11 AM
To:
Alford, Patrick
Subject:
Comments on dEIR Banning Ranch
Mr. Patrick Alford
City of Newport Beach
Newport Beach, Ca 92663
In the years 2014 -2017 and 2019, emissions of NOx would exceed SCAQMD thresholds.
This, as stated is due to concurrent operations of both remediation and grading on
separate sites. ? Would these NOx values be under threashold if these operations took
place in a sequential effort rather than simultaneous? ? If so, would it not be prudent tc
maintain the safety and health of surrunding residents by operating under the
established threasholds?
?If these operations are to be conducted concurrently because it is more economical to
do so, then what price has been out on the health of residents?
Dave Sutherland
12 Summerwind Ct
Newport Beach, Ca 92663
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onses to Comments
Letter O88c Dave Sutherland
November 6, 2011
Response1
Please refer to Topical Response: Air Quality, with respect to nitrogen oxides emissions during
construction, which explains that the Project has been revised to include Tier 4 construction
equipment and NOx emissions would be less than significant with the concurrent remediation
and grading activities.
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onses to Comments
Comment Letter 088d
Alford, Patrick
From:
Dave Sutherland Idavesutherland4 @gmail.comj
Sent:
Sunday, November 06, 2011 10:22 AM
To:
Alford, Patrick
Subject:
Comments on dEIR Banning Ranch
Mr. Patrick Alford
City of Newport Beach
Newport Beach, Ca 92663
Reference: page 4.10 -23
The dEIR states that "Operational emissions would continue to increase as the proposed
residences are occupied, which is anticipated to start in 2015 and the anticipated
completion of the Project in 2023, the occupancy and use of residences, retail uses and
other Project components would continue to increase. Over the same period, vehicle
emissions factors for most gaseous pollutants are anticipated to diminish because of
improved vehicle Fleet emissions." ? What empirical evidence is there to support the
reduction of fleet emissions as implied in this assertion? Please provide the source of this
assumption?
Dave Sutherland
12 Summerind Ct
Newport Beach, Ca 92663
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Letter O88d Dave Sutherland
November 6, 2011
Response1
Gaseous vehicle emissions are related to fuel economy and vehicle performance. Since the late
1970s, fleet fuel economy has improved, forced by the legislation of Corporate Average Fuel
Economy (CAFE) standards. Recent CAFE standards are described in Section 4.10, Air Quality,
of the Draft EIR. Because newer cars have improved economy, the replacement of older cars
with newer cars each year improves the overall fleet economy. In California, the CARB
periodically publishes emission factors through the EMFAC model, which is based on vehicle
testing and fleet composition compiled from DMV records, as well as other factors. EMFAC
allows the selection of emissions for a given year. Modeling a given number of vehicle trips in
different years demonstrates reduced emissions in later years.
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Comment Letter O88e
Alford, Patrick
From: Dave Sutherland Idavesutherland4 @gmad coml
Sent: Sunday, November 06, 2011 10.31 AM
To: Alford, Patrick
Subject: Commments on dEIR Banning Ranch
Mr. Patrick Alford
City of Newport Beach
Newport Beach, CA 92663
4.1
As stated in this section, VOC and NOx are expected to exceed SCAQMD thresholds in
the year 2023. This is the anticipated completion date for the Project.
Reference: 4.10 -26 Once completed, the Project leaves the residents with "significant
and unavoidable" results of VOC and CO.
? Is this acceptable for the long term ramifications of our community? I find this a
comolete disreaard for the residents and future residents of our beautiful citv.
Dave Sutherland
12 Summerwind Ct
Newport Beach, CA 92663
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Letter O88e Dave Sutherland
November 6, 2011
Response1
While the 2023 operational emissions are forecasted to exceed the SCAQMD CEQA thresholds,
this is a regional impact. There would be no significant impact to local residents.
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Comment Letter 088f
Alford, Patrick
From: Dave Sutherland Idavesutherland4 @gmad coml
Sent: Sunday, November 06, 2011 10.40 AM
To: Alford, Patrick
Subject: Comments on dEIR Banning Ranch
Mr Patrick Alford
City of Newport Beach
Newport Beach, CA 92663
The Landowner /Developer shall appoint a contact for complaints regarding the Project.
? Is this not liken to the fox looking after the hen house?
? Would it not be prudent to have this post be an official Government Agency, one that
is not directly associated with the Owner /Developer? ? Should not the oversight be an
independent agency that has the power to ensure compliance of operations of the
Dave Sutherland
12 Summerwind Ct
Newport Beach, CA 92663
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Letter O88f Dave Sutherland
November 6, 2011
Response1
Providing a means for reporting a complaint to a person directly responsible for on -site activities
is the path to obtaining the quickest investigation and response. The existence of a contractor's
representative does not preclude contacting the City, as described at
http:// www .newportbeachca.gov /index.aspx ?page =227, or, in the case of suspected air pollution
violations, the South Coast Air Quality Management District.
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Comment Letter 089
4CEIVEO By
COMMUNITY
October 24, 2011
OCT Z g 2011
0. DEVELOPMENT .p
E
Patrick J. Alford, Project Manager OF NEWPOBt 9
City of Newport Beach
Community Development Department
3300 Newport Boulevard
Newport Beach, CA 92658 -8915
RE: Banning Ranch EIR
Comments and Concerns From a Long Time Resident of Newport Shores
Dear Mr. Alford,
I am a long time resident of the 550 home (not 440 Residences 4.1 -3), Newport Shores
neighborhood. I have reviewed the EIR for this proposed development and do not believe the
environmental mitigation measures, as proposed, are sufficient to meet the impacts this project
will impose on our community. Additional measures must be included. I have listed these on
the attached "Specific Concerns" document. Also, some documentation in the draft EIR seems
to be unclear, specifically, clarification on the following items must be conclusively resolved:
1. 'file document states that "The bridge over PCH will be implemented as a part "' the
development; regulatory approvals must be pursued and received." If this bridge is not
implemented many of the transportation and public access mitigation measures that
specifically rely on its construction will not be met. How will the project be modified if
this bridge is not implemented? The project, as currently configured, requires that the
bridge be built.
2. Connectivity of wildlife corridors and visual considerations within the report somewhat
address the removal of existing and construction of new fences. Please confirm that
project fencing will be installed only where shoom in the exhibits provided. To be clear, 2
if a fence now exists but is not shown in the proposed project exhibits, it will be removed
and construction ofnew fences . will only be in places identified on the project exhibits in
report section number 4.
3. Utility lines will all be in- ground installations, including utilities currently running across
the bluff and the lowland areas, i.e. the overhead electrical line that currently rums from
the toe of the bluff trail to and across the Santa Ana River.
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4. Clean up and remediation of the lowlands will address: a) ongoing measures to stop
sediment from entering the Seminole slew and b) the project will address the
sedimentation from the project property that has contributed and will continue through 4
construction and after to the partial filling of the Seminole Slue and the ACOE wetlands.
5. Will ongoing open space maintenance and monitoring cost be the responsibility of the
project developer?
In addition to these clarifications I would like to have the attached specific items addressed.
ou. 0
t olz
203 Canal Street, Newport Beach, CA 92663
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Specific Concerns:
A. Access to parks and open spaces and trails, connections to existing trails and parks,
public facilities distribution, connection to existing regional trail systems and other parks
(4.1 -61 section 30212) report sections do not adequately address the public's right to
enter and have access to the proposed public spaces, parks and connections through the
project. Specifically, the public and residences who would like to access the public
project.areas as well as move through the project property from the south west
boundaries, have not been adequately accommodated.
From the Newport Shores neighborhood to the public interpretive trail the Toe of the
Bluff "frail, and South Bluff Park, have not been accommodated. All public facilities
should be easily accessible via direct trail connections across and around the Seminole
Slue.
Also, a direct connection from the south west for pedestrian and bike riders to access the t
new nature center, Talbert Trail Head; 19'h Street; the community park facilities, and
Sunset Ridge Park should be a part of the project`s environmental mitigation measures, as
should direct access to the CCC Learning Center and public and commercial facilities
north and east of the project.
Access points from existing public properties should be included at the small pubic park
nest to the Newport Shores Community Center Tennis Courts (bridge across the
Seminole Slue). Another access to the toe of the bluff trail at the terminus of Cedar
Street, and an access across the end of the Seminole Slue to connect the existing Newport
Shores public park (not shown on Exhibit 4.1 -2j) directly to the toe of the bluff trail just
north of the oil facilities along PCH. Requiring pedestrians and bikes to travel along
PC1-1 to the Banning Ranch Road, then up [lie road, is not adequate access to these public
facilities from the West Newport area. The public benefit of these public facilities cannot
be realized if the project does not provide the connections as part of the project.
Parkland L.U. Policy 4.1 -60, 6.5.2 Active Community Park. 20 to 30 acres required, is not
adequately met, in the net 21.5 acres identified as north, central, and south community
park properties. The community park should be contiguous with no bifurcation by
project roads. The portion of the central community park parcel south of North Bluff
Road is less than a ball field in width and should not be considered active community
park land. The south community park parcel does not meet the community park land
description. It is too narrow and is bifurcated by the Sunset Ridge Park Road, therefore,
should not be counted as contribution acreage to the community park requirement.
Likewise, the parking facilities required to replace lost parking at 15 °i Street should not
be included in the community park acreage count, as this parking is not fully dedicated to
the community park. The project must provide the 20 to 30 areas required in one parcel
of adequate width to provide active community park amenities.
David Volz
203 Canal Street, Newport Beach, . CA92663
October 24, 2011
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C. The fence shown on 4.2 -2a "Open space fence at top of bluff' is not aesthetically
appropriate nor does it meet the environmental consideration for connectivity ofwild life
corridors. Fences are not included on other sections /exhibits, and none should be
included here. If absolutely required at this reach of the bluff top, it should be only a low
rail type fence.
D. Sports field lighting and alter dark lighting of all community park facilities must be
included as part of the project according to the report text. Exhibits 4.1 -2f and 4.1 -2e
should be updated to show field and park lighting.
E. The oil facilities should all be visually screened from all points of public view. The
identified perimeter screening should be much wider and continuous around each oil
facility compound and at the entry points. In particular, Exhibit 4.1 -6 does not show any
screening of the west side of this compound, an existing unsightly mess of machinery that
will be made worse by the consolidation of oil facilities proposed to be added to the
compound.
F. All manmade constructions within the natural areas must be screened or aesthetically
treated to match the proposed natural setting. Stand pipes, bollards, signs, markers,
roads, fences, etc. must be screened or painted to blend into the setting. Specifically,
yellow protective bollards around constructed facilities should not be allowed, or if
absolutely needed, must be pointed to match the background colors of the natural areas.
David Volz
203 Canal Street, Newport Beach, CA92663
October 24, 2011
10
11
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Letter 089 David Volz
October 24, 2011
Responsel
The proposed pedestrian and bicycle bridge over West Coast Highway would provide access to
bike lanes and pedestrian sidewalks on the south side of West Coast Highway and to the beach.
The bridge would allow for pedestrians and bicyclists to move between the northern and
southern sides of West Coast Highway without having to cross West Coast Highway at street
level. However, the bridge is not proposed to mitigate any significant environmental impacts
associated with the proposed Project. Therefore, the proposed Project would not have to be
changed.
Response 2
Additional fencing would be required in addition to the fencing referenced by the commenter.
Please refer to Section 5.6, Walls, Fences, and Monumentation, of Chapter 5, Master
Landscape Plan, of the Newport Banning Ranch Master Development Plan, in particular the
Exhibit 5 -14, Community Walls, Fences, and Monumentation Plan. In addition to the Community
Walls and Fences shown on this exhibit, it can be expected that:
1. The eastern edge of the North Community Park adjacent to the Coast Community
College District's Newport Beach Learning Center building would be fenced for public
safety and security, and that fences may be used to enclose recreational facilities such
as tennis courts and play fields.
2. The perimeter of the Consolidated Oil Sites (Site Planning Areas 5a, 5b, and 5c),
including the entry to the Oil Access Road from West Coast, would be fenced for
security and public safety.
3. The perimeters and /or interior portions of private development areas (e.g., swimming
pools, patios, gardens, yards, etc.) within the Villages and Colonies (i.e., Site Planning
Areas 10a -10d, 11a -11b, 12a -12b, and 13a -13b) would likely be fenced or walled to
some degree for security, privacy, noise attenuation, and /or public safety. Additionally,
sound walls or other forms of walls or fences may be required as environmental
mitigation pursuant to the EIR or public agency requirements.
4. Fencing may be required anywhere within the Project where a public agency of
jurisdiction determines that such fencing is required to protect the public health, safety,
and welfare. For example, fencing may be required in association with water
management areas (where there is fear of drowning) or the proposed bridge over West
Coast Highway (where there is fear of falling).
Although sensitive to connectivity of wildlife corridors, fencing may also be required by State
and /or federal resource agencies, and /or the Coastal Commission for the protection of habitat
areas or species on either an interim, seasonal, or permanent bases. This is often done, for
example, to protect vernal pools and is proposed as a part of the Project.
Construction -level plans for fences and walls would be reviewed and approved by the City as
part of Site Development Review.
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Response 3
The Draft EIR assumes that all new public utilities would be placed underground within the
development area and to the extent economically and environmentally feasible within the Open
Space area except for the oil consolidation sites, where utilities may be above ground. It is
unclear to the City what must be resolved.
Response 4
It is unclear to the City what must be resolved.
Response 5
Open space monitoring and the associated costs would be a Conditions of Approval and would
detail the structure and funding of the ownership and maintenance of the open space. It is
anticipated that either a conservancy would be formed or a qualified existing organization would
be named as the land steward, and funding for long -term maintenance would be provided by a
number of sources including endowments, Homeowners Association fees, property transfer
taxes, and other to be determined funding sources, or some combination of all.
Response 6
The opinions of the commenter and the requests of the commenter for additional recreational
(trail) connections from Newport Shores to the Project site are noted.
Response 7
As a point of clarification, the City's Park Dedication and Fees Ordinance requires 5 acres of
parkland for every 1,000 residents; the park requirement for the Project would be 15.06 acres.
In addition to compliance with the City's Park Dedication Ordinance, the General Plan
specifically addresses the need for a Community Park to be located on the Project site. Land
Use Policy 6.5.2 of the City's General Plan states that the Newport Banning Ranch property
must:
Accommodate a community park of 20 to 30 acres that contains active playfields
that may be lighted and is of sufficient acreage to serve adjoining neighborhoods
and residents of Banning Ranch, if developed.
Therefore, the City's Park Dedication Ordinance would require 15.06 acres of park or the
payment of in -lieu fees; the City's General Plan requires a 20- to 30 -acre community park on the
Newport Banning Ranch property. However, the General Plan does not obligate the Applicant to
develop a park exceeding Park Dedication Ordinance requirements (15.06). However, the
General Plan requires that sufficient acreage be available on the property to comply with the
General Plan.
The Project proposes to meet its parkland obligations (of 15.06 acres) through the provision of
approximately 51.4 gross (42.1 net) acres of public parks, including an approximately 26.8 -
gross -acre (21.7- net -acre) Community Park; an approximately 20.9 - gross -acre (17.5- net -acre)
Bluff Park; approximately 3.7 gross (2.9 net) acres of Interpretive Parks; and bicycle, multi -use,
and pedestrian trails.
With respect to replacement parking, the park acreage figures do not include the parking area.
The opinions of the commenter on the configuration of the Community Park are noted.
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Response 8
The fence between the Bluff Park and the Resort Colony depicted on Exhibit 4.1 -2a (not Exhibit
4.2.2a as noted in the comment) was not intended indicate that fencing was mandated in this
location but rather an illustration of what might be required.
A fence may not be required between the South Bluff Park and the Open Space Preserve in this
general area based upon a variety of considerations, ranging from habitat and wildlife protection
to public safety. If required, whether by the City, Homeowners Association, a resource agency
or the Coastal Commission, the fence would be designed to take into consideration the habitat,
wildlife movement and other requirements as detailed by the appropriate approving agency.
Response 9
The referenced land use exhibits show the relationship between on -site and off -site land uses in
terms of general uses and distance between uses rather than all potential features on a parcel.
Light standards are not depicted on any of the exhibits and are not deemed necessary for the
analytical purpose of the exhibits.
Response10
Exhibit 4.1 -6 depicts vegetative buffering on the west side of the oil consolidation site.
As addressed in Section 4.1 and 4.2, the Project proposes to visually screen the consolidated
oil facilities sites. The consolidated oil sites would be landscaped with native plant materials,
including trees and shrubs in accordance with the Habitat Restoration Plan. The Oil Site Buffers
(Site Planning Areas 6a and 6b) do not extend into areas of the Open Space Preserve that were
identified as having significant existing habitat value. Exhibit 4.1 -6 shows screening (the 2.7-
acre Oil Site Buffer Site Planning Area 6b) on the west side of the Northerly Oil Operations Site
(SPA 5c), but does not show much screening on a portion of the southern side for the reason
(existing habitat) mentioned above.
Response 11
Very little manmade construction is proposed or would be permitted within the Open Space
Preserve outside of the two oil consolidation sites. Construction could include, for example,
handrails, boardwalks, or interpretive exhibits along the interpretive trials, or functional or safety
improvements within the two drainage management areas. Exhibit 5 -15 of the Master
Development Plan shows that materials for open space fencing may include round or square
tubular steel or aluminum posts and stainless or other similar cable; finishes may be galvanized,
anodized, or other durable metal finishes. The Talbert Trailhead and public trails in the Open
Space Preserve would not be lighted. Subsequent approvals would be required for fencing,
signs, etc. in the Open Space areas and the compatibility of these features would be considered
by the City as a part of Site Development Review.
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Comment Letter 090a
Alford, Patrick
From:
Terry Welsh [lerrymwelsh @hotmail,com)
Sent:
Saturday, October 22, 2011 1:58 AM
To:
Alford, Patrick
Subject:
FW: Banning Ranch vernal pools
Patrick, can you make this email part of the dEIR comments for Banning Ranch?
Thank yon.
Terry Welsh
From: terrymwelsh @hotmail.com
To: terrymwelsh @hotmail.conl
Subject: FW: Banning Ranch vernal pools
Date: Fri, 21 Oct 201106:36:39 -0700
From: terrymwelsh @hotmaii.com
To: palford @city.newport- beach.ca.us; tbonikanlp @wetlandpermitting.com
CC: christine medak @hvs.gov; jonathan snapp- cook @fws.gov; erin_mccarthy @fws.gov; jengel @coastal.ca.gov;
jdelarroz @coastal.ca,gov; kschwing @coastal.ca.gov; jdixon @coastal.ca.gov; dlenry@coastal.ca.gov,
ssarb @coastal.ca.gov; awillis @coastal.ca.gov
Subject: Banning Ranch vernal pools
Date: Tue, 30 Aug 201121:27:13 -0700
Patrick, can you forward this to the appropriate people working on the Banning Ranch HR?
To Tony Bomkamp and City of Newport Beach:
On the recommendation of the US Fish and Wildlife Service, I am sending a review of the recent 20102011 Banning
Ranch wet - season branchiopod study by David Moscovitz. The referrenced DVD Complete Banning Ranch Mesa Vernal
Pools /Wet /ands has been previously provided to the regulatory agencies as well as the lead agency for the proposed
Banning Ranch development project (Newport Beach).
While the recent study by David Moscovitz does provide important data on many of the vernal pools /wetlands of the
Banning Ranch mesa, it is clear that a complete study of all of the vernal pools /wetlands has not been completed. In
order for the Newport Beach City Council to adequately evaluate the environmental impacts of this proposed development
project, a thorough study of ALL vernal pools /wetlands of the Banning Ranch mesa must be part of the anticipated EIR.
Lacking such a thorough study, the EIR must be considered incomplete.
To complete an adequate study of all vernal pools /wetlands of the Banning Ranch mesa, and to provide the necessary
information to the Newport Beach City Council to evaluate the environmental impacts of the proposed development
project, additional dry season and /or wet season studies to evaluate for the listed San Diego fairy shrimp, as required by
US Fish and Wildlife Service guildelines, must be performed per protocols.
The following is from a USFWS memo titled:
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"Interim Survey Guidelines to Permittees for Recovery Perin its under Section 10(a)(1)(A) of the Endangered Species Act for
the
Listed Vernal Pool flrancldopmis"
c. A complete survey consists of sampling for either:.
1. two full wet season surveys done within a 5 -year period; or
2. too consecutive seasons of one full wet season survey and one dn'season survey (or
one dry season survey and one full wet season survey).
Thank you,
Terry Welsh
Review of 2010 /2011. Banning Ranch wet- season branchiopod study by David N4oscovitz.
1.
It is good to see protocol studies being done on many of the venial pools/wetlands of the Banning Ranch mesa.
2.
San Diego fairy shrimp have been identified in vernal poolshvetlands VPl. VP2. AD3. E, G, I and J (VPI,
V P2. E. I and J are referred to as 1, 2, 1.7, 8,. and 9 in the DVD Complete Bonnine Ranch Mesa Vernal
Pools/4VetlandsJ. Some of the vernal pools /wetlands in the GLA 2010/2011 wet- season study; such as A B. D.
and V (referred to as 30a. 5. 3. and 28a in die DVD Con+rolele Banning RanchiWesa Vernal Pools/4hetlands)
now have two wel- season protocol studies . without detection of the San Diego fairy shrinip.
3.
Other vernal poolshvetlands in the GLA 2010/2011 wet- season study, such as C; F. H. K, L, A4. \n. O; P. R. T.
W (referred to as 47 7; 14, 107 15, 11; 16, 18, 12, 13; 20 and 29 in the DVD Complete Bannine Ranch A,leea
Vernal Pools/1Netlandsl have had only one wet - season study. Fui'lhemnore, venial poolshvetlands described in
the GLA 1999/2000 wet - season report, but not mentioned in the current study, such as Depression 1.
Depression 2, and Depression 3 (referred to as 27, 24a, and 24b in the DVD ConpleicBannine Ranch Ardeso
Vernal Pool.04%etlandel also only have had one wet - season study, lay tJSFWS guidelines, these vernal
pools/wetlands will have to have one more wet - season study taken during a year of at least average rain
fall, or one dry - season study performed by a qualified biologist, before the presence of the $an Diego
fairy shrimp can be excluded.
4.
Other venial pools/wetlands on the Banning Ranch mesa were not studied, nor even described, in the
2010 /2011 wet- season report. It. is not clear wily vernal pools/wetlands 23, 25, 26, 27, 28b, 30b, 31. 33: 34, 35,
36. 37, 38, 39, 40, 41, 42, 43, 44. 45. 47. 49, 49a, or 49b were not included in this current study. Photo
dnelllilelllatl011 in file DVD Complete Banning Ranch Mesa Vernal Poolsfi etlands shows most, if not all, of
these vernal pools /welhmdis were present during the 2010/2011 wet- season. Two wet- season studies taken
during yens of at least average rain fall, or one wet- season study and one dry- season study, will have to
be perfonned on all of these venial pools /wetlands before the presence of the San Diego fitiiy shrimp can
be excluded.
5.
In conclusion, of the 54 documented /potential venial poolshvetlands ml the Banning Ranch mesa; seven
have evidence of the $all Diego fairy shrinip, foul' have been satisfactorily excluded by protocol studies
for the Presence (if the $all Diego fairy shrimp, and 43 require additional wet - season of dri- season
studies to exclude tile presence of the $all Diego fair shrilllp.
cunt.
R:TrojectslNewporN015 \RTC \RTC- 031512tloc 3 -947 Responses to Environmental Comments
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Letter O90a Terry Welsh
October 21. 2011
Response1
The comment is noted.
Response 2
Please refer to Topical Response: Vernal Pools.
Response 3
Please refer to Topical Response: Vernal Pools.
Response 4
Please refer to Topical Response: Vernal Pools.
Response 5
The comment is noted.
Response 6
The comment is noted.
Response 7
Please refer to Topical Response: Vernal Pools.
Response 8
Please refer to Topical Response: Vernal Pools.
Response 9
Please refer to Topical Response: Vernal Pools
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Comment Letter O90b
Alford, Patrick
From: Terry Welsh [terrymwelsh @hotmail. coml
Sent: Sunday, November 06, 20119:42 PM
To: Alford, Patrick; steve.banningranch @hotmail.com
Subject: cIEIR comments
Attachments: Burrowing Owl information.pdf
Patrick, can you incorporate the attached report Into the dEIR comments?
Thank you,
Terry Welsh
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On 2- 16 -11, a Burrowing Owl was identified at a sitejust south of the corner of the City Yard at the end
of 16'" Street, in an area corresponding to the path of the proposed Bluff Rd. Enclosed is an aerial photo
of the approximate location, as well as some photographs. This information needs to be incorporated
into the body of data on Burrowing Owls.
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J
F
I V
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Th a 2008 PI an n ed Co m mu nityTe clinical A pp e n dix cc rn ai n ed a 2008 W i nt eri B Burrowing Owl m ap.
Again, there was a Burrowing Owl located in the path ofthe planned Bluff Road (as well as a Burrowing
Owl located on the South Mesa, and another located in the Mesa -U niFied Scho al District prope rty).
ffi
J r
fI 2
I
i r 4
'i
U9c•,d I_
._-
.
m �
f1M �1lG'.V 9r.M�iMlLwdd�lalN�.a
R:\ Projects \NewportU0151RTC \RTC- 031512.d.c 3 -953 Responses to Environmental Comments
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Letter O90b Terry Welsh
November 6, 2011
Response1
The information regarding the burrowing owl identified on site on February 16, 2011 will be
added to the administrative record. However, this observation does not change any findings of
the Draft EIR. The Draft EIR identifies the presence of the burrowing owl (Athene cunicularia) on
site. The Draft EIR documented that suitable foraging and nesting habitat is present on site and
this species has been observed wintering on site in 2008, 2009, and 2010. However, this
species is absent for breeding based on breeding season surveys conducted in 2008, 2009, and
2010. As addressed on page 4.6 -62 of the Draft EIR, impacts on occupied and potential habitat
for this species were found to be significant. Implementation of Mitigation Measures (MMs) 4.6 -2
and 4.6 -12 would reduce the impact on this species to a less than significant level (see page
4.6 -89 of the Draft EIR).
RT rojedsWewparftMl &RTMRTC -031512.doc 3 -954 Responses to Environmental Comments
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Alford, Patrick Comment Letter 090c
From: Terry Welsh (terrymwelsh@hotmail.comj
Sent: Tuesday, November 08, 2011 6:10 AM
To: Alford, Patrick
Subject: Banning Ranch dEIR comments
"The comments below and all references contained therein are hereby incorporated into the
official record of proceed ngs of this project and its successors. "
Patrick, here are three more comments. They are likely going to be submitted by Barry
Nerhaus, but I am going to repeat them.
1. Southwestern Pond Turtle. - Data exists that shows southwestern pond turtles do not need permanent
water nor high quality freshwater marsh to survive. Additionally from personal observation, southwestern
pond turtles can utilize tidal marshes, estuaries, and salt marshes for foraging. So my question is what was
the methodology for survey for southwestern pond turtles? Visual surveys are inadequate for surveying for
this species.
2. Light - footed Clapper Rail - Since the freshwater marsh habitat was described to have cattails and rushes,
there is a potential to have nesting Clapper Rails. It was stated that a fence was dividing the cordgrass habitat
that is known to have at least one nesting pair. Well this bird has wings and can easily fly over a fence.
Additionally, I located and documented a clapper rail nest in freshwater marsh this past year with 9 eggs.
They hatched and were observed foraging throughout the freshwater marsh. Light- footed clapper rails are
known to neat in freshwater marshes.
3. Since there are alkali grasslands, there is potential for the rare Wandering Skipper. The dEIR needs to
study for the presence of the rare Wandering Skipper.
Finally, I had earlier referenced the November 2, 2011 Coastal Commission hearing as an
excellent resource on ESHA determination on Banning Ranch and as a specific document
describing the likedhood that Bluff Road would not be able to get approval for a connection
to Coast Highway. Though no written transcript exists, there is an official State of
California video archive containing the hearing. Here is the link:
htUr / /www.cal -snem. ore /cei- biu /arclhive.nhU ?owner= CCCBsdate =20] 1 -11 -02
16. COASTAL PERMIT APPLICATIONS. See AGENDA CATEGORIES. Attention: Items appearing in
this section of the agenda may be moved to the Consent Calendar for this area by the Executive Director when,
prior to taking up the Consent Calendar, slaffand the applicant are in agreement on the stair recommendation. If
an item is moved to the Consent Calendar it will he processed in the same manner as other Consent Calendar
items (See AGENDA CATEGORIES) except that if that item is subsequently removed from the Consent
Calendar by a vote of three or more commissioners, the item will be acted upon at the meeting in the order in
which it originally appears on this Meeting Notice and in the manner Coastal Permit Applications are
processed. The purpose of this procedural change is to expedite the Commission's coastal development permit
process.
a. Anolication No. 5 -10 -168 (City of Newport Beach Sunset Ridge) Application of City of Newport
Beach to construct, on vacant land, active recreational park (Sunset Ridge Park) of approximately 18 acres
at northwest comer of intersection of West Coast Highway and Superior Ave, including access road.
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parking lot, public restroom, playground, sports fields, paths, viewpoint, retaining wall, landscaping, and
coastal sage scrub habitat enhancement. Grading consists of approximately 110,000 ou.yds. of cut, and
102,000 cu.yds. of fill, at 4850 West Coast Highway and on portion of Banning Ranch, Newport Beach,
Orange County. (JDA -LB)
Public Comment on Item
Return to Staff
Return to Commission
Motion and Vote
Amending Motion and Vole
Motion and Vote
Withdraw] of Application
4 cant
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Letter 090c Terry Welsh
November 8, 2011
Response1
As discussed in detail in the Biological Technical report (page 52) of the Draft EIR, the
southwestern pond turtle occurs primarily in freshwater rivers, streams, lakes, ponds, vernal
pools, and seasonal wetlands and requires basking sites such as logs, banks, or other suitable
areas above water level. On behalf of the City, BonTerra Consulting conducted a review of the
California Natural Diversity Database (CNDDB) by California Department of Fish and Game
(CDFG) to identify any known occurrences of the southwestern pond turtle within Orange
County. The species was reported to have 33 occurrences within Orange County; however,
there are no known occurrences for this species within the coastal portion of the Santa Ana
River watershed where the Project site is located. The closest occurrence within the watershed
is approximately 25 miles upstream in the Silverado Canyon area. No perennial streams or
ponds suitable for this subspecies are present on the Project site. Therefore, due to the lack of
preferred habitat and absence of the species from the area, the southwestern pond turtle is not
expected to occur on the Project site. In addition, the species has not been observed
professional biologists on the Project site over the past 20 or more years.
Response 2
Light- footed clapper rail (Rallus longirostris levipes) is discussed in detail on page 60 of the
Draft EIR Biological Technical Report. The scientific literature states that this rail is a secretive
resident of coastal salt marshes of pickleweed and Pacific cordgrass (Spartinia foliosa)
(Edelman and Conway 1998). Although this subspecies has occurred at other localities in
Orange County, the tidal salt marshes of Upper Newport Bay and the Seal Beach National
Wildlife Refuge support the only substantial populations52. In addition to these localities, the
species has been observed at the Bolsa Chica and San Joaquin Marshes and in the restored
cordgrass habitat at the mouth of the Santa Ana River" 54, Clapper rails nested in the relatively
extensive lowland freshwater marsh habitats of San Joaquin Marsh in the 1980s (Gallagher
1997). This rail also nests in freshwater marsh habitats on the periphery of its preferred salt
marsh habitat at Upper Newport Bay (Gallagher 1997). This species could be heard by
BonTerra Consulting ornithologists calling from the U.S. Army Corps of Engineers ( USACE) salt
marsh restoration site adjacent to the Project site. Tidal marsh areas on the Project site are very
limited in extent, with a chain -link fence separating the USACE salt marsh restoration site from
the Project site. Freshwater marsh habitats on the Project site are not contiguous with these off-
site tidal salt marsh habitats and are considered too small and isolated to be suitable habitat
for clapper rails. The Project site provides potentially suitable foraging and high -tide
refuge habitat but not suitable nesting habitat for this subspecies. Therefore, the light- footed
clapper rail may occur for foraging or temporary refuge during high tides but is not expected
to nest on the Project Site.
52 Hamilton, R.A. and D.R. Willick. 1996. The Birds of Orange County, California: Status and Distribution. Irvine,
CA: Sea and Sage Audubon Society.
53 California Department of Fish and Game (CDFG). 2011. California Natural Diversity Database. Records of
Occurrence for USGS Seal Beach, Newport Beach, Tustin, and Laguna 7.5- minute quadrangles. Sacramento,
CA: CDFG, Natural Heritage Division.
51 Glenn Lukos Associates (GLA). 2009 (April 21). Biological Technical Report for the Newport Banning Ranch
Property Newport Beach, California (prepared for Newport Banning Ranch LLC). Lake Forest, CA: GLA.
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Response 3
According to the California Department of Fish and Game (CDFG)55, the wandering saltmarsh
skipper (Panoquina errans) does not have State or federal listing status. It does have a G4G5
S1 designation according to NatureServe, which is a non - profit conservation organization who
provides data and information to State and federal resource agencies regarding the listing of
species. A G4 status is for species that are "Apparently Secure" and G5 status is for species
determined to be "Secure'. It also has a NatureServe Subnational rank of S1, which states that
the species is "Critically Imperiled" and a World Conservation Union (IUCN) Near Threatened
listing.
As set forth in the State CEQA Guidelines Section 15380(d)
A species not included in any listing identified in subdivision (c) shall nevertheless be
considered to be endangered, rare or threatened, if the species can be shown to meet the
criteria in subdivision (b) ". Subdivision (b) includes the following standards:
A species of animal or plant is:
(1) "Endangered" when its survival and reproduction in the wild are in immediate
jeopardy from one or more causes, including loss of habitat, change in
habitat, overexploitation, predation, competition, disease, or other factors; or
(2) `Rare' when either: (A) Although not presently threatened with extinction,
the species is existing in such small numbers throughout all or a significant
portion of its range that it may become endangered if its environment
worsens; or
(B) The species is likely to become endangered within the foreseeable future
throughout all or a significant portion of its range and may be considered
"threatened" as that term is used in the Federal Endangered Species Act.
Based on a range map for this species, this species is believed to occur in coastal salt marshes
from north of Santa Barbara to the southern portion of Baja, Mexico56. Existing literature for this
species states that "Upper Newport Bay may very well support the largest existing colony of this
butterfly. It ... may literally swarm during August along the road and the bluffs near Big Canyon
on the west side of Upper Newport Bay "57. It is also believed that continued preservation of the
Upper Newport Bay is desirable for the continued survival of the butterfly at healthy population
levels. This species is known to occur within Southern California in coastal and inland salt
marsh areas. Given this species distribution and listing status, this species does not meet the
criteria of Endangered, Rare, or Threatened as described above; however, it is noted that this
species is limited in its distribution and occurrence.
The wandering skipper may occur on site, primarily within the Lowland area supporting higher
concentrations of salt grass and pickleweed. Permanent Project impacts on habitat for this
species would be limited, and most of the habitat for this species would remain as open space
following oilfield remediation activities. However, these activities could temporarily impact marsh
habitats used by this species. Much of the marsh habitat on the Project site is currently
fragmented by roads and is invaded to varying degrees by non - native species which are known
to have significant detrimental impacts on skipper habitat. Revegetation following oilfield
" California Department of Fish and Game (CDFG ). 2011 (January). Special Animals. Sacramento, CA: CDFG,
Natural Heritage Division.
http://www.butterH!esandmoths.org/species/Panoquina-errans
57 hfp: // mamba. bio. uci. edu /- pjbryanV biodiv /lepidopt/hesper /wanderin.htm
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remediation activities has the potential to result in a higher long -term habitat quality due to
invasive species removal, removal of human activity and disturbance related to oilfield
operations, and availability of larger blocks of contiguous native habitat for this species in the
open space area. Project impacts on this species would be considered less than significant in
consideration of other habitat available for these species in the region; no mitigation would be
required.
Response 4
The comment is noted. The November 2, 2011 Coastal Commission hearing was a hearing on a
separate project, the Sunset Ridge Park. Written comments on the Newport Banning Ranch
Draft EIR were provided to the City by the California Coastal Commission and are addressed in
this Responses to Comments document.
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Comment Letter 090d
Comments on dEIR for Banning Ranch.
Attachments:
1. Planned Community Development Plan for Banning Ranch and Technical Appendices (August
2008)
2. Coastal Commission Consent Cease and Desist Order CCC- 11 -CD -03 and Coastal Commission
Consent Restoration Order CCC- 11 -RO-02 and attachments
3. Orange County Transportation Authority (OCTA) Measure M Environmental Oversight
Committee (EOC) reports including map and acquisition properties evaluation
4. Letter, dated 4/15/09, from NB City Council in support of application for Measure M funds to be
used towards the purchase of the entire Banning Ranch.
5. Coastal Commission staff reports, and attachments, for Coastal Development Permit for Sunset
Ridge Park project (application number 5 -10 -168) from both 9 -23 -11 and 10 -20 -11
6. The "Vandersloot File'
7. Final Sunset Ridge Park EIR approved by NB council April 23, 2010
Note: Per City Planner Patrick Alford, the attachments are being uploaded to a designated "Dropbox"
file upload site, as well as being provided in the form of DVDs to City Hall.
BIOLOGICAL RESOURCES
1. ESHA
The single most important factor affecting this development in the area of Biological Resources
is the presence of Environmentally Sensitive Habitat Areas (ESHAs). The general concept of
ESHAs and their relationship to the Coastal Act are briefly discussed, but there is no attempt to
delineate ESHAs on the Banning Ranch property. ESHAs undoubtedly exist on Banning Ranch
and it is likely that their presence will drastically limit the size of the development, if not outright
prevent the development from being built. The dEIR says ESHA determinations will be made by
the Coastal Commission, but this will happen months after the clEIR might be voted on by the
City Council. Before this City Council vote, an honest attempt should be made to delineate
ESHAs as best as possible; using the Coastal Act as the standard of review, but also using the
Newport Beach CLUP as guidance. It is not in the public's interest to have the City Council vote
on this project without reasonable expectation of where the ESHAs exist. on Banning Ranch,
and how they might be affected. To be a responsible lead agency, the City of Newport Beach
must understand the extent of the ESHAs before voting on this project. The results of the NB
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council approving a project that impacts ESHA can mean much money and time spent on a
project that violates the Coastal Act and has no chance of being approved. Such is the case at
Sunset Ridge Park, where the City of NB approved a park design that was not consistent with the
Coastal Act. Had the NB council known from the beginning where the ESHA is located, a
different park design would have been considered earlier.
In or around early 2009, a Newport Banning Ranch Planned Community Development Plan, with
extensive appendices (dated 8/08), was posted on the City of Newport Beach's website. It was
removed a few months later. I his entire plan, with appendices, is being submitted for the
record as it included extensive invaluable material that is not present in the current dEIR.
For one thing, a map of probable ESHA was included in the 2008 appendices (this map is not
present in the dEIR). While this map will undoubtedly be expanded as the knowledge of the
biological resources on Banning Ranch increases, this 2008 map is significant for the extensive
ESHA in the northeastcorner of Banning Ranch where the extension of Bluff Road to 19 "' St. is
proposed (see page 351 or 540 on the Technical Appendices, vol. II dated 8/08). The dEIR does
not explain why a road is planned for this area despite this area being previously mapped as
ESHA by the applicant.
Additional ESHA on Banning Ranch is described in the NW and SE polygons in the Coastal
Commission Consent Cease and Desist Order CCC- 11 -CD -03 and Coastal Commission Consent
Restoration Order CCC- 11 -RO-02 (described on page 9 of 22 as well as on other pages). Maps of
these areas can be seen in the attachments for the same documents (page 8 of 100 as well as on
other pages).
Additional ESHA is described in the Sunset Ridge Park Coastal Development Permit (application
number 5- 10.168) staff report dated 10/20/11. This document describes two areas of ESHA
known as "ESHA East" and "ESHA West" (described on pages 17 -19 of 46, as well as described
elsewhere). Maps of "ESHA East" and "ESHA West" can also be seen in the attachments for the
same document (page 177 of 204 as well on other pages).
In 2009, the Banning Ranch Conservancy applied to the Measure M Environmental Oversight
Committee (EOC), which is part of the Orange County Transportation Authority (OCTA) for funds
to be used for the purchase of the entire Banning Ranch. This request was supported by a
unanimous vote by the NB City Council resulting in a letter of support. Following this
application, the EOC evaluated the many open space project applicants, ranking them all. The
EOC placed Banning Ranch in the highest category (Group 1) based on "high quality habitat,
heterogeneous habitat, larger sized properties, aligns with impacted habitats, and contains
covered species." Furthermore, the EOC identified four "priority conservation areas" on the
Banning Ranch mesa. Please review the Final Conservation Biology Report as well as the
Acquisition Properties Evaluation Listand Map.
)ont.
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2. Vernal Pool /wetland data is incomplete. There is no mention of the roughly 15 acres of USFWS-
declared critical habitat for the San Diego Fairy Shrimp in the middle mesa. The dEIR does
mention seven vernal pools /wetlands that have been demonstrated to contain San Diego Fairy
Shrimp, but it does not show the locations of the other vernal pools /wetlands detected during
surveys conducted by the owner's consultants, many of which contain Versatile Fairy Shrimp.
Additionally, there is no mention of the roughly 24 other documented or potential vernal
pools /wetlands described in the document Complete Banning Ranch Mesa Vernal
PoolslWetlonds.
Under US Fish and Wildlife Service guidelines, a vernal pool has to be subjected to two separate
studies before the vernal pool can be determined to be free of listed branchiopods (in this case,
the San Diego Fairy Shrimp).
"Interim Survey Guidelines to Permittees for Recovery Permits
under Section 10(a)(1)(A) of the Endangered Species Act for the
Listed Vernal Pool Branchiopods"
c. A complete survey consists of sampling for either:
1, two full wet season surveys done within a 5 -year period; or
2. two consecutive seasons of one full wet season survey and
dry season survey (or one dry season survey and one full wet
season survey).
his important to note that the City of Newport Beach has acknowledged the necessity of conducting
two rounds of vernal pool /wetland surveys and has offered to conduct a second round of surveys on
four of the potential vernal pools /wetlands on Banning Ranch that lie in a proposed dump site for the
Sunset Ridge Park project (VP34, VP35, VP 36, and VP39) in a letter to Coastal Commission staff dated
1419 -11 (Exhibit 13 for the attachmenLS of the Coastal Commission Staff repurt for the Sunset Ridge
Park staff report dated 10- 20 -11).
In this letter the City says, "Coastal staff in a recent follow -up meeting now further requested that a wet
season study be undertaken to further check and confirm that vernal pools or wetlands conditions do
not exist in this area The City will agree to undertake this study, and work with Coastal Staff to modify
our proposed grading disposal area accordingly if BRC's allegation can be substantiated, and if the
subject park project application is approved." (page 10 of 74)Here is a list of potential /documented
vernal pools /wetlands on the Banning Ranch mesa:
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Vernal pool /wetland presence
on aerial flyovers (Note:
Significant winter rainstorms started
1/19/10 and 12/18/10)
Banning Ranch EIR
onses to Comments
n/a = not applicable. This means the
flyover did notadequately evaluate
the vernal pool /wetland.
Unk = unknown (has not been
excluded by protocol studies)
Vernal
Pool/
Wetland
(Letters)
refer to
2011
Glenn
Lukos
study
Latitude
All are 33'
North
Longitude
All are
117' West
1/28/10
9days
after
rain
started
12/24/10
6 days
after
rain
started
1 /11 /1
1
25 days
after
rain
started
217111
52
days
after
rain
started
noouinantee
P ° "d' " °"' ° "`
f °rev days
Two wet
season
surveys or
one wet
season and
one dry
season
survey by
certified
biologist
Versatile
Fairy
Shrimp
San Diego
Fairy
Shrimp
(exclusion
based on
Two wet
season
surveysgt
one wet
-
season and
one dry
season
survey by
certified
1 VPJ)
38'04.16"
5637.23"
yes
yes
Yes
Likely
Yes
Yes
Yes
2 VP2
38'02.38"
56'38.31"
Yes
yes
Yes
No
Yes
Yes
Yes
3 D
38'00.10"
56'37.56"
Yes
Yes
Yes
No
Yes
Yes
Yes
4 (C)
37'57.70"
56'39.50"
Yes
Yes
n/a
n/a
Yes
No
Yes
qNo
5 B
37'55.45"
56'36.21"
Yes
Yes
Yes
No
Yes
Yes
Yes
6
37'59.67"
56'33.97"
Yes
Yes
Yes
n/a
Yes
Yes
Unk
7 (f)
37'58.35"
56'32.70"
Yes
Yes
Yes
n/a
Yes
No
Unk
8 M
38'02.06"
56'32.30"
Yes
Yes
Yes
n/a
Yes
No
Unk
Yes
9 (J)
38'03.04"
5631.88"
Yes
Yes
Yes
No
Yes
No
Unk
Yes
10 K)
38'03.14"
56'30.31"
Yes
Yes
Yes
No
Yes
No
Unk
Unk
11 M
38'04.82"
56'29.27"
Yes
Yes
Yes
No
Yes
No
Yes
Unk
12 P
38'0618"
56'32.10"
Yes
Yes
n/a
n/a
Unk
No
Yes
Unk
13 (R)
38'06.26"
56'33.92"
Yes
Yes
n/a
n/a
Unk
No
Yes
Unk
14 H
38'02.19"
5633.72"
No
Yes
No
n/a
Unk
No
Unk
Unk
15 L
38'02.93"
56'30.16"
Yes
Yes
Yes
No
Yes
No
Unk
Unk
16 (N)
38'04.22"
5630.75"
Yes
Yes
Yes
No
Yes
No
Yes
Unk
17 E
37'59.20"
56'35.82"
Likely
Yes
Yes
Likely
Yes
No
Unk
Yes
18 (0)
38'04.94"
56'30.73"
Yes
Yes
Yes
No
Yes
No
Unk
Unk
19
38'05.26"
56'30.76"
Yes
Yes
n/a
n/a
Unk
No
Unk
Unk
20
38'09.03"
56'32.63"
Yes
Yes
n/a
n/a
Unk
No
Yes
Unk
21(S)
38'08.53"
56'33.66"
Yes
Yes
ri
n/a
Unk
No
Unk
Unk
22 U
38'09.76"
56'33.44"
Yes
Yes
n/a
n/a
Unk
No
Unk
Unk
23
37'53.56"
56'41.70"
Likely
n/a
n/a
No
Unk
No
Unk
Unk
24a
37'36.86"
56'41.12"
n/a
ri
n/a
n/a
Unk
No
Yes
Unk
24b
37'35.09"
5641.40"
n/a
n/a
n/a
n/a
Unk
No
Yes
Unk
25
38'11.59"
56'38.45"
n/a
n/a
n/a
n/a
Unk
No
Unk
Unk
26
37.58.76"
56'52.07"
ri
n/a
n/a
n/a
Unk
No
Unk
Unk
27
37'3537"
37'35.37"
n/a
ri
n/a
n/a
Unk
No
Yes
Unk
28a
38'24.29"
56'41.49"
n/a
n/a
n/a
n/a
Unk
Yes
Yes
No
286
n/a
n/a
n/a
n/a
Unk
No
Unk
Unk
29 (W)
37'41.79"
56'22.33"
No
n/a
n/a
n/a
Yes
No
Unk
Unk
30a(A)
37'47.36"
56'46.77"
n/a
Yes
n/a
n/a
Unk
Yes
Yes
No
R:\ Projects \NewpoftU0151RTC\RTC- 031512.doc 3 -963 Responses to Environmental Comments
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onses to Comments
R]FroioctslNOwportU0151RTC\RTC- 031512 doc 3 -964 Responses to Environmental Comments
30b
37'47.36"
56'46.77"
n/a
Yes
n/a
n/a
Unk
No
Unk
Unk
31
n/a
n/a
n/a
n/a
Unk
No
Unk
Unk
32 (see
30a)
33
37'50.38"
56'47.20"
n/a
n/a
n/a
n/a
Unk
No
Unk
Unk
34
37'40.02"
56'27.15"
n/a
n/a
n/a
n/a
Unk
No
Unk
Unk
35
37'39.51"
56'27.73"
n/a
n/a
n/a
n/a
Unk
No
Unk
Unk
36
37'41.99"
56'26.12"
n/a
n/a
n/a
n/a
Unk
No
Unk
Unk
37
37'38.97"
56'40.80"
n/a
n/a
n/a
n/a
Unk
No
Unk
Unk
38
37'15.87"
56'39.78"
n/a
n/a
n/a
n/a
Unk
No
Unk
Unk
39
37'43.46"
56'27.30"
n/a
n/a
n/a
n/a
Unk
No
Unk
Unk
40
38'05.27"
56'42.29"
n/a
n/a
n/a
n/a
Unk
No
Unk
Unk
41
38'01.44"
56'39.62"
n/a
n/a
n/a
n/a
Unk
No
Unk
Unk
42
56'48.49"
n/a
n/a
n/a
n/a
Unk
No
Unk
Unk 3 con
43
56'39.89"
Yes
n/a
n/a
n/a
Unk
No
Unk
Unk
44
56 "37.30"
n/a
n/a
n/a
n/a
Unk
No
Unk
Unk
45
137'37.41"
56'37.30"
n/a
n/a
n/a
n/a
Unk
No
Unk
Unk
46 (see
2
37'35.37"
n/a
n/a
n/a
n/a
Unk
No
Unk
Unk
47
56'39.64"
yes
Yes
n/a
n/a
Unk
No
Unk
Unk
48
37'56.99"
56'37.96"
Yes
Yes
n/a
n/a
Unk
No
Unk
Unk
49a
37'52.57"
5621.52"
Yes
n/a
n/a
n/a
Unk
No
Unk
Unk
49b
37'52.57"
56'21.52"
Yes
n/a
n/a
n/a
Unk
No
Unk
Unk
(AD3)
Unk
No
Unk
Yes
(G)
Unk
No
Unk
Yes
Comments: The vernal pools /wetlands are listed by their number designations from the DVD The
Complete Banning Ronc Mesa Vernal PoolslWetlands. The letters in parenthesis re er to t e letter
designations in the 2010/2011 Glenn Lukas Study. Vernal pools 1- 22, along with 51, 40, 41, 43, 48,
AD3 and G are located in the "middle mesa" area and constitute the largestvernal pool complex on
Banning Ranch. Vernal pools 1 and 2 are described as "Vernal Pool and small adjacent depression"
respectively, in the 5/19/00 GLA report (which documented San Diego Fairy Shrimp in both). Vernal
pools 23, 25, 26 are located in vicinity to the "middle mesa" vernal pool complex, but are not well seen
in the aerial photos. Vernal pools 27, 24a, 24b, 3, 2, and 1 are described as "Depressions 1, 2, 3, 4, 5,
and Vernal Pool" respectively, in the 10/18/00 GLA report Vernal pool 30a was described in the
4/21/08 and 5/28/09 GLA reports.
R]FroioctslNOwportU0151RTC\RTC- 031512 doc 3 -964 Responses to Environmental Comments
Banning Ranch EIR
onses to Comments
3. The "Vandersloot File"
In 2008, the late Dr. Jan Vandersloot took several walking tours of Banning Ranch, carefully
documenting by photo numerous plants and other biological features of Banning Ranch. Dr.
Vandersloot carefully noted the type of plant, and its location, by hand -held GPS device. The
information collected by Dr. Vandersloot is important because it documents native vegetation
where the dEIR describes non - native, ruderal, or ornamental vegetation. The "Vandersloot File'
(Dr. Vandersloot's photo collection, Excel File describing what is in the photos, and their GPS
locations, hand drawn maps showing where he walked and stopped to take photos, and a link to
"GoogleEarth" showing "push- pins" at each location he stopped to take photos) is submitted as
part of the record.
Two examples of discrepancies between the "Vandersloot File" and the vegetation map of the
dElR are:
a. Dr. Vandersloot documented mulefat at "1375 ", where the dEIR vegetation map says "non-
native grassloand."
b. Dr. Vandersloot documented encelia at "6152" where the dEIR vegetation map says "non-
native grassland ".
Many other discrepencies exist. A thorough comparison between the "Vandersloot File" and
the vegetation should be undertaken.
Any discrepencies warrant a review and site visit by a third party biologist.
Instructions on how to use the "Vandersloot File"
Jan Vandersloot collected this data in late 2008. Jan walked portions of Banning Ranch on 10/12/08,
10/19/08,10/26/08,11 /1/08, 11/8/08. 11/22/08, 11/30/08, and 12/7/08.
10/12/08 was just a"warm up" day where Jam tested his GPS device. Pictures are not currently available
for 10/12/08.
Pictures taken on 11/30/08 are currently not available. It is not clear why they are not available.
Perhaps they will turn up some day.
R:TrgectsWewp MJO15�RTMRTC- o31512.&c 3 -965 Responses to Environmental Comments
Banning Ranch EIR
onses to Comments
Hand -drawn maps show where the photos were taken each day.
An Excel file gives coordinates of each photo, an approximate size of the studied area, as well as
description of what is depicted in each photo (doesn't include 12/7/08).
Finally, the location of most of the photos are depicted on Google Earth with "push- pins."
Below is Jan's description of his method:
11 -29 -08
Notes on the files on this disk:
1. The first folder, dated 10 -12 -08, was the first visitto get oriented. No GPS readings were taken on
this date.
4 cant.
2. The folders dated 10/19/08, 11/01/08, 11/08/08, 11/22/08, were taken with GPS readings by a
Garmin GPS II model, with stated accuracy of S-10 meters (16 -33 feet). This was confirmed in my
backyard.
3. Since I am new to using the GPS device, the protocol for displaying the waypoint results went
through an evolution. The first few waypoints are not numbered on the photos, but were saved on
the GPS unit. Finally, the following protocol was followed: First the GPS waypoint was determined
based an roughly the center of the vegetation patch. Then a closeup of the GPS reading was
photographed to show the reading in degrees, minutes, seconds. Then I zoomed out to show where
the GPS unit was located in relationship to the vegetation and photographed that point. Then a
further backup photo was taken to show the general area of the vegetative patch. Thus there is
usually a sequence of first closeup of the GPS reading, with receding views after that.
4. Subsequent to trying to display the GPS waypoints on Google Earth with degrees, minutes, seconds,
which was way off, I used the NAV function of the GPS unit to convert the waypoints to decimal
degrees. This was much more successful in placing the waypoints on Google Earth. You an see these
waypoints on the Banning Ranch Decimal GPS Table on the disk. I also included the GPS Table with the
original degrees, minutes, seconds recorded on the GPS unit
R: Troject sWewporNO15�RTMRTC- o3istzdoe 3 -966 Responses to Environmental Comments
Banning Ranch EIR
onses to Comments
S. The work sheets were performed by walking the areas of vegetation to determine the size in yards
of each patch. Thus, you can locate the GPS waypoints on the maps,
6. The photographs were taken with a Nikon Coolpix 8800 with dates of the photos imprinted on the
photos.
4 cunt.
Jan Vandersloot
Gnatcatcher data and Cactus Wren data
The dEIR shows one year of Gnatcatcher data (2009), and this uses "condensation points" rather
than actual field data. Single "condensation points" are insufficient for establishing ESHA
delineations (please review excellent discussion of this topic by biologist Robb Hamilton at the
Coastal Commission hearing on Sunset Ridge Park, 11/2/11).
In addition, the dEIR doesn't mention the multiple previous Gnatcatcher and Cactus Wren
surveys from 1992 -2008, as well as additional documentation of Gnatcatchers that was
produced during the effort to build a park at Sunset Ridge. A summary of Gnatcatcher surveys is
provided in the attachment for the Coastal Commission staff report for the Coastal
Development Permit for Sunset Ridge Park project (application number 5 -10 -168) from 9 -23 -11
(seepages 119-139). Maps for 1995, 2006 and 2007 (which are not included in the above -
mentioned attachment for the staff report) are presenting in the following three pages.
Again, where possible, field data should be produced for Gnatcatcher (and other species)
surveys that present data as a single "condensation point"
R:TrgectsWewp MJO15�RTMRTC- o3isizaoc 3 -967 Responses to Environmental Comments
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onses to Comments
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onses to Comments
5 cont
R: mrojeets wewportUO1&RTORTC- 031512.aoc 3 -970 Responses to Environmental Comments
Banning Ranch EIR
onses to Comments
The clEIR contains Cactus Wren data from 2009, but does not include data beginning in 1992.This is
presented as follows
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R:\ Projects \NewportU0151RTC \RTC- 031512.doc 3 -971 Responses to Environmental Comments
Newport Banning Ranch EIR
Responses to Comments
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R: rProject sWewporN015tRTCtRTC- 031512,aoe 3 -972 Responses to Environmental Comments
LilR I W.Y.iIO
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R:\ Projects \NewportU0151RTORTC- 031512.d.c 3 -973 Responses to Environmental Comments
Newport Banning Ranch EIR
Responses to Comments
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R:TrojectsWewpn JO155RTMRTC- o3isizaoe 3 -974 Responses to Environmental Comments
Newport Banning Ranch EIR
Responses to Comments
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R:\ Projects \NewportU0151RTC\RTC- 031512.doc 3 -976 Responses to Environmental Comments
Banning Ranch EIR
onses to Comments
Burrowing Owl
The clEIR shows data from a 2009 Burrowing Owl survey, but does not include data from a 2008
Burrowing Owl survey that was part of the 2008 Development Plan (see page 343 of 540 in Technical
Appendix vol. It of 2008PIanned Community)
"Orstad File"
The late Jim Orstad compiled a lengthy and referenced written argument on why a residential 7
development should not be built at Banning Ranch. The "Orstad File" had been previously submitted as
part of the EIR comments for the Sunset Ridge Park project, but is again especially relevant to the
proposed Banning Ranch development. The "Orstad File" is being resubmitted to be included in the
record for the draft EIR for Banning Ranch (please see attached Sunset Ridge EIR comments, pages 398-
414 of 602)
R:\ Projects \NewportU0151RTC\RTC- 031512.doc 3 -977 Responses to Environmental Comments
Banning Ranch EIR
onses to Comments
Letter 090d Terry Welsh
November 8, 2011
Response1
Please refer to Topical Response: EHSA, Topical Response: Sunset Ridge Park, Topical
Response: Mowing and Fuel Modification, and Topical Response: Coastal Commission Consent
Orders.
Response 2
In July 2005, the City of Newport Beach contracted with a consultant to provide services in
connection with the potential acquisition of the Project site as permanent open space. The
Newport Beach City Council set the following as a priority for 2008 and 2009 "Conduct an
appraisal of the Banning Ranch property and assess funding available for the purchase of the
property for open space ". In February 2008, the City Council appointed the Banning Ranch
Appraisal and Acquisition Ad Hoc Committee to oversee the appraisal process for the Project
site and the assessment of funding availability for its purchase as open space. In January 2009,
the City Council authorized the City to request Measure "M" environmental mitigation funding to
acquire the Project site and that request was submitted to Orange County Transportation
Authority (OCTA). In August 2009, the City Council received the report on the feasibility of
funding acquisition of the Project site for open space, which estimated the cost of property
acquisition at $138,000,000.00 to $158,000,000.00. The City Council directed staff to continue
exploring open space acquisition possibilities as the City moves forward with review of the
property owner's development application and to continue to monitor funding opportunities and
explore potential new alternatives for open space acquisition.
Response 3
Please refer to Topical Response: Vernal Pools.
Response 4
Responses to the late Dr. Vandersloot's examples are provided below. Dr. Vandersloot and the
commenter are incorrect in stating that Location B75 was incorrectly mapped as non - native
grassland. The location identified by Dr. Vandersloot in 2008 was located at the northern portion
of the area mapped as willow riparian forest, which contains mule fat as described on page 4.6-
18 of the Draft EIR.
At Vandersloot location B152, this area was mapped accurately as non - native grassland. The
presence of small areas of Encelia is not uncommon or unexpected in this area. Page 4.6 -14 of
the Draft EIR states that there are pockets of native species that were not mapped because
they were mowed to a height of less than six inches and could not be delineated. They may also
have been considered a significantly smaller portion of the larger habitat in the vicinity and
therefore, the larger vegetation type would have dominated over a small area of Encelia.
Given the lack of evidence presented in these samples, no significant discrepancies are
present. Vegetation mapping was conducted on numerous days in 2009 and 2010 by Senior
Botanist Sandy Leatherman of BonTerra Consulting who has over 20 years of experience in
plant biology and has mapped thousands of acres of habitat throughout Southern California. All
biological data in the EIR would be subject to review by applicable regulatory agencies as a part
of the permitting process for the proposed Project.
RT rojedsWewparftMl &RTMRTC -031512.doc 3 -978 Responses to Environmental Comments
Banning Ranch EIR
onses to Comments
Response 5
The Draft EIR summarized the report findings for the surveys conducted for the coastal
California gnatcatcher. These surveys are consistent with and follow the survey protocol
established by the U.S. Fish and Wildlife Service ( USFWS) for this species. The USFWS is the
resource agency responsible for this species listing, tracking on population statistics, and
ultimate recovery.
Response 6
The information regarding the burrowing owl identified on site on February 16, 2011 will be
added to the administrative record. However, this observation does not change any findings of
the Draft EIR. The Draft EIR identifies the presence of the burrowing owl (Athene cunicularia) on
site. The Draft EIR documented that suitable foraging and nesting habitat is present on site and
this species has been observed wintering on site in 2008, 2009, and 2010. However, this
species is absent for breeding based on breeding season surveys conducted in 2008, 2009, and
2010. As addressed on page 4.6 -62 of the Draft EIR, impacts on occupied and potential habitat
for this species were found to be significant. Implementation of Mitigation Measures (MMs) 4.6 -2
and 4.6 -12 would reduce the impact on this species to a less than significant level (see page
4.6 -89 of the Draft EIR).
Response 7
The late James Orstad prepared a paper dated June 2, 2004, identifying his concerns regarding
development of the Newport Banning Ranch property and noted that he was a proponent of the
property becoming "a park and wild game nature preserve ". Issues of concern to Mr. Orstad
included oilfield contamination (soil and airborne); unstable bluffs; geotechnical instability;
presence of significant historical resources; seismic faulting; and dust pollution. All of the issues
identified by Mr. Orstad are addressed in the Draft EIR.
• Oilfield contamination: Section 4.5, Hazards and Hazardous Materials; Section 4.10, Air
Quality
• Unstable bluffs, geotechnical instability, faulting: Section 4.3, Geology and Soils
• Historical resources: Section 4.13, Cultural and Paleontological Resources
• Dust pollution: Section 4.10, Air Quality.
Response 8
The State CEQA Guidelines Section 15125(a) states, "An EIR must include a description of the
physical environmental conditions in the vicinity of the project, as they exist at the time the
notice of preparation is published ". The Notice of Preparation was published on March 18, 2009.
The Notice of Preparation was published on March 18, 2009. Using data that is over 20 years
old is not relying on the most current and accurate information required by CEQA. The most
current information serves as the baseline conditions by which the lead agency determines
whether an impact is significant. CEQA also states that the description of the environmental
setting shall be no longer than is necessary to form an understanding of the significant effects of
the proposed project and its alternatives. If historical data is not substantially different that the
recent data available for conditions on site, it is not necessary to reference old data sources
whether this older data provides no new /valuable information that would have a effect on the
Project findings.
RT rojedsWewparftMl &RTMRTC -031512.doc 3 -979 Responses to Environmental Comments
Banning Ranch EIR
onses to Comments
There are reasons where the incorporation of species data from past data would not be needed
or appropriate for the proposed Project:
• Environmental site conditions have changed over that past 20 years which could result
in a slightly different flora and fauna component of the Project site. This data would
therefore not be current.
• Nomenclature has changed for many plant and wildlife species in the area and there
would be confusion as to which species previous reports may have been referenced.
• Many of the previous survey reports do not have species compendia. It is unclear
whether the survey compendia data is accessible.
RT rojedsWewpaRU0151RTMRTC -031512.doc 3 -980 Responses to Environmental Comments
Banning Ranch EIR
onses to Comments
Comment Letter 090e
Alford, Patrick
From:
Terry Welsh [terrymwelsh @hotmailcoml
Sent:
Sunday, November 06, 2011 8.19 PM
To:
Alford, Patrick
Subject:
dEIR comments for Banning Ranch
Attachments:
Jim Orstad File. pdf
The late Jim Orstad compiled a lengthy and referenced written argument on why a residential
development should not be built at Banning Ranch. The " Orstad File" had been previously submitted
as part of the EIR comments for the Sunset Ridge Park project, but is again especially relevant to the
proposed Banning Ranch development. The " Orstad File" is being resubmitted to be included in the
record for the draft ER for Banning Ranch (please see attached Sunset Ridge EIR comments, pages
398 -414 of 602)
R]Froioct.\NO.portU0151RTC\RTC- 031512 doc 3 -981 Responses to Environmental Comments
Banning Ranch EIR
onses to Comments
Letter O90e Terry Welsh
November 6. 2011
Response1
The late James Orstad prepared a paper dated June 2, 2004, identifying his concerns regarding
development of the Newport Banning Ranch property and noted that he was a proponent of the
property becoming "a park and wild game nature preserve ". Issues of concern to Mr. Orstad
included oilfield contamination (soil and airborne); unstable bluffs; geotechnical instability;
presence of significant historical resources; seismic faulting; and dust pollution. All of the issues
identified by Mr. Orstad are addressed in the Draft EIR.
• Oilfield contamination: Section 4.5, Hazards and Hazardous Materials; Section 4.10, Air
Quality
• Unstable bluffs, geotechnical instability, faulting: Section 4.3, Geology and Soils
• Historical resources: Section 4.13, Cultural and Paleontological Resources
• Dust pollution: Section 4.10, Air Quality.
RT rojedsWewparfiMl &RTMRTC -031512.doc 3 -982 Responses to Environmental Comments
Banning Ranch EIR
onses to Comments
PUBLIC MEETINGS
RA Projects \NewportW151RTORTC- 031512.doc 3 -983 Responses to Environmental Comments
Banning Ranch EIR
onses to Comments
RA Projects \NewpoOM151RTORTC- 031512.doc 3 -984 Responses to Environmental Comments
Banning Ranch EIR
onses to Comments
City of Newport Beach Planning Commission Study Session
November 3, 2011
Response1
The Planning Commission's summary of the purpose of the study session is noted.
Response 2
Patrick Alford of the City of Newport Beach Community Development Department provided an
overview of the proposed Project. Please refer to Section 3.0, Project Description, of the Draft
EIR.
Response 3
Representatives of the Project provided an overview of the proposed Project
Response 4
The Project proposes that the Lowland Open Space /Public Trails and Facilities areas include
habitat conservation, restoration, and mitigation; public interpretive trails; a water quality basin;
and a planting buffer around a portion of the northern oil consolidation site. Approximately 118.4
gross acres of the Project site are proposed for restoration as native habitat either by the
Applicant as a part of the Project's biological resources mitigation obligations or as a means of
satisfying off -site mitigation requirements. The compensatory mitigation requirements for the
Project would be ultimately determined by the regulatory agencies as permit conditions. The
exact amount of acreage within the Lowland Open Space area that would be required to be
restored as native habitat to satisfy the mitigation requirements of the proposed Project has not
been established because it would be subject to the approval of respective regulatory agencies
including the U.S. Army Corps of Engineers (USACE), the California Department of Fish and
Game (CDFG), the U.S. Fish and Wildlife Service (USFWS), the Regional Water Quality Control
Board (RWQCB), and the California Coastal Commission (Coastal Commission).
If the Project's mitigation requirements do not require the restoration of the approximately 118.4 -
gross -acre Lowland area, any remaining acreage requiring restoration would be placed in a
reserve area (mitigation bank) or similar mechanism and may be made available to third parties
seeking off -site areas in which to fulfill their respective mitigation obligations. The area would be
remediated in accordance with the Remedial Action Plan discussed in Section 4.5, Hazards and
Hazardous Materials, of the Draft EIR.
Response 5
The Applicant provided an overview of the regulatory process associated with oilfield
remediation. Please refer to Section 4.5, Hazards and Hazardous Materials, of the Draft EIR.
Response 6
The assessment of existing conditions in the Project's Traffic Impact Analysis is based on traffic
counts done primarily in 2007 while the General Plan traffic study based its assessment of
existing conditions on traffic counts done in 2002. While traffic counts typically would be
expected to increase over time, the opposite pattern was evident during the mid- 2000s. Traffic
volumes have dropped since the early 2000s due to the combined effects of increased gas
prices and the economic downtown. Review of the peak hour ICU calculations from these two
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traffic studies showed reductions in the peak hour traffic volumes that typically ranged from 10
percent to 20 percent, with several critical movements reflecting reductions up to 25 percent.
Such significant reductions in peak hour traffic, therefore, resulted in significant reductions in the
ICU calculations.
Table 4.9 -4 identifies that the existing level of service (LOS) at the two intersections is LOS B
and LOS C, respectively and the General Plan buildout LOS at the two intersections is LOS D
and LOS E, respectively. Table 4.9 -28 identifies LOS D. The exhibit the commenter is referring
to is from Section 4.9, Transportation and Circulation, of the Draft EIR which is only intended to
illustrate turning movements. A more detailed representation of the Bluff Road/West Coast
Highway intersection is provided on Sheet 7 of the Tentative Tract Map (Exhibit 3 -14).
Response 7
The opinions of the commenter are noted.
Response 8
The opinions of the commenter are noted.
Response 9
The commenter inappropriately uses the term "ecological staircase ". The term "ecological
staircase' is typically discussed in association with geological formations that have a significant
effect on the biological resource present within each terrace, or step. This is most evidently
seen in the coastal Pygmy forests of northern California and Oregon. In this typical staircase
scenario, the marine terraces are uplifted by changes in ocean level which results in multiple
(typically 5) terraces at differing elevations, or "stairs ". Terrace can be over 100,000 years older
than the one below it and supporting a distinct association of soils, microbes, plants, and
animals. Although marine deposits occur on the Project site, they are not subject to the typical
terracing and associated biological differentiation described above for documented "ecological
staircase" scenarios.
Response 11
The commenter is incorrect that the Newport Banning Ranch property is the only coastal site
with gnatcatchers. Gnatcatchers are known to occur at several locations along the coast in
Orange County from Upper Newport Bay, Crystal Cove State Park, Pelican Hill, Laguna Beach,
Dana Point, and San Clemente.
As discussed in Section 4.6, Biological Resources, of the Draft EIR, on August 30, 1991, the
California Fish and Game Commission considered a petition in support of listing the coastal
California gnatcatcher as a State Endangered species. The Commission decided not to list the
coastal California gnatcatcher in favor of pursuing preparation of a Natural Communities
Conservation Plan (NCCP) program. The purpose of the NCCP program is to provide regional
or areawide protection and to promote perpetuation of natural wildlife diversity while allowing
compatible and appropriate development and growth. On March 25, 1993, the U.S. Department
of the Interior listed the coastal California gnatcatcher as a Threatened species and adopted a
special rule in accordance with Section 4(d) of the FESA that authorizes landowners and local
jurisdictions to voluntarily participate in the State of California NCCP Act of 1992.
Since that time, the County of Orange —in conjunction with State and federal resource agencies,
local jurisdictions, utility companies, the Transportation Corridor Agencies, and major private
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landowners — prepared the NCCP /HCP for the Central /Coastal Subregion (approved on July 10,
1996). These plans are intended to ensure the long -term survival of the coastal California
gnatcatcher and other special status, coastal sage scrub - dependent plant and wildlife species in
accordance with State - sanctioned NCCP program guidelines. The Project site occurs within the
Central /Coastal Subregion.
Response 12
The Biological Technical Report identifies the presence of Critical Habitat for the San Diego fairy
shrimp on the Project site. The following text can be found on page 50 of the Biological
Technical Report:
On December 12, 2007, the USFWS published a final rule designating 3,082
acres of land as critical habitat for the San Diego fairy shrimp in San Diego and
Orange Counties USFWS 2007b). The Project site is located in final critical
habitat Unit 1, Subunit C for San Diego fairy shrimp.
Response 13
Special status habitats, including, but not limited to coastal sage scrub, is discussed in detail on
pages 4.6 -42 and -43 of the Draft EIR. For the Draft EIR, the sensitivity level is based on the
Nature Conservancy Heritage Program Status Ranks, which ranks vegetation types on a global
and statewide basis according to the number and size of remaining occurrences and recognized
threats.
The commenter is incorrect in the statement that the coastal sage scrub on the Project site "is
one of the few remaining patches we have anywhere along the coast'. Just within the Coastal
Subregion of the Natural Communities Conservation Plan, there are approximately 34,500 acres
of sage scrub within the 104,000 acres of undeveloped land.
Response 14
As stated on page 4.6 -37 of Section 4.6, Biological Resources, two cactus wren territories were
observed during focused surveys for the coastal California gnatcatcher in spring 2009 including
one breeding pair and one solitary male. However, two territories do not represent `one of the
largest populations of cactus wrens in Orange County" as stated by the commenter 58. The Draft
EIR acknowledges that the proposed Project would impact southern cactus scrub, southern
cactus scrub /Encelia scrub, disturbed southern cactus scrub, and disturbed southern cactus
scrub /Encelia scrub which provides potential habitat for this species. The Draft EIR also states
that because of this species declined in Orange County (following the loss of habitat by
wildfires), impacts on this species would be considered potentially significant.
Page 4.6 -60 summarizes the mitigation for these impacts which includes implementation of
MMs 4.6 -1 and 4.6 -10. These measures require the restoration of coastal sage scrub dominated
by native cactus species habitat at a ratio of no less that 1:1 and construction avoidance
measures to minimize the impacts to the greatest extent practicable. In addition, approximately
35.16 acres of coastal sage scrub, which includes approximately 10 acres of coastal sage scrub
dominated by cactus, would be preserved on site as part of MM 4.6 -1. In addition, PDFs 4.6 -1
through 4.6 -4 require the designation and methodology of habitat restoration /preservation and
indirect effect minimization measures, which would provide conservation and avoidance value to
se hftp:// www. naturereserveoc .org /projects.htm
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the cacti - dominated coastal sage scrub and associated wildlife species, including, but not
limited to the cactus wren.
Response 15
As addressed in Section 4.6 of the Draft EIR, the least Bell's vireo has been observed on the
Project site during focused surveys. Impacts to this species are considered significant;
mitigation is proposed to mitigate impacts to a less than significant level. However, any impact
on this species would be considered significant. Implementation of MMs 4.6 -5 and 4.6 -11 would
reduce impacts on this species to less than significant levels. These measures require the on-
site or off -site restoration of riparian habitat at a ratio from 3:1 to 1:1 depending on the habitat
value impacted. A total of 15.77 acres of riparian habitat would be restored as a part of the
proposed Project. The Project also requires approval from the USFWS to impact the species
and its habitat. In addition, the Project would preserve approximately 23.03 acres of riparian
habitats. MM 4.6 -1 includes construction avoidance measures to minimize the impact to the
greatest extent practicable to the vireo and the riparian habitat. In addition, PDFs 4.6 -1 through
4.6 -4 require the designation and methodology of habitat restoration /preservation and indirect
effect minimization measures, which would provide conservation and avoidance value to the
riparian habitat and associated wildlife species including, but not limited to, the least Bell's vireo.
The California least tern is not expected to forage on the Project site due to a lack of suitable
habitat. However, they may forage in the adjacent USACE salt marsh restoration site and the
Santa Ana River. Additionally, they are not expected to occur on the Project site for nesting due
to limited suitable nesting habitat and the high levels of disturbance on the Project site.
Response 16
The comments are noted
Response 17
The comments are noted.
Response 18
The opinions of the commenter are noted. Approximately 252 acres of the 401 -acre property
would be retained in open space.
Response19
Please refer to Topical Response: Vernal Pools.
Response 20
Please refer to Topical Response: Vernal Pools and Topical Response: ESHA.
Response 21
The opinions of the commenter are noted.
Response 22
Please refer to the response to Comment 9.
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Response 23
All habitat types currently represent on the Project site would remain on the site after Project
implementation. There would be no elimination of habitat, only impacts to portions of habitats
present as discussed in detail in Section 4.6, Biological Resources, of the Draft EIR.
Response 24
Please refer to Topical Response: Vernal Pools.
Response 25
The Land Use Element of the General Plan does not establish a time period or terms for public
acquisition of the site. However, on August 11, 2009, the City Council directed that the
exploration of acquisition of open space continue as the review of a development proposal
proceeds. There are no terms established for public acquisition except those terms and
conditions set forth by Applicant in the January 8, 2010 "Willing Buyer" letter to this specific
suitor (see attached). The Applicant is proceeding with entitlement in accordance with the
conditions of the Newport Beach General Plan.
Section 7.0, Alternatives to the Proposed Project, of the Draft EIR addresses several
alternatives to the Applicant's proposal including Alternative B: General Plan Open Space
Designation. The acquisition process for purchase of the property for open space is addressed
as a part of the analysis of Alternative B.
In July 2005, the City of Newport Beach contracted with a consultant to provide services in
connection with the potential acquisition of the Project site as permanent open space. The
Newport Beach City Council set the following as a priority for 2008 and 2009 "Conduct an
appraisal of the Banning Ranch property and assess funding available for the purchase of the
property for open space ". In February 2008, the City Council appointed the Banning Ranch
Appraisal and Acquisition Ad Hoc Committee to oversee the appraisal process for the Project
site and the assessment of funding availability for its purchase as open space. In January 2009,
the City Council authorized the City to request Measure "M" environmental mitigation funding to
acquire the Project site and that request was submitted to Orange County Transportation
Authority (OCTA). In August 2009, the City Council received the report on the feasibility of
funding acquisition of the Project site for open space, which estimated the cost of property
acquisition at $138,000,000.00 to $158,000,000.00. The City Council directed staff to continue
exploring open space acquisition possibilities as the City moves forward with review of the
property owner's development application and to continue to monitor funding opportunities and
explore potential new alternatives for open space acquisition.
Response 26
The Newport Banning Ranch EIR has been prepared in compliance with the State CEQA
Guidelines Section 15002 which states that the "The basic purposes of CEQA are to: (1) Inform
governmental decision- makers and the public about the potential, significant environmental
effects of proposed activities. (2) Identify the ways that environmental damage can be avoided
or significantly reduced. (3) Prevent significant, avoidable damage to the environment by
requiring changes in projects through the use of alternatives or mitigation measures when the
governmental agency finds the changes to be feasible. (4) Disclose to the public the reasons
why a governmental agency approved the project in the manner the agency chose if significant
environmental effects are involved ".
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The State CEQA Guidelines sections referenced by the commenter identify suggested page
limits and clearly note that they are not mandates. The length of the Draft EIR reflects the
outcome of legislation and court decisions that have required CEQA documents to examine
more issues at greater levels of detail. For example, Assembly Bill 32 (the California Global
Warming Solutions Act of 2006) resulted in EIRs evaluating greenhouse gas emissions which
previously was not typically done. As such, arbitrarily limiting the length of a Draft EIR to less
than 150 pages (or 300 pages) would be at odds with the CEQA objectives of disclosure. As
such, the Newport Banning Ranch Draft EIR's length would not violate CEQA or render it
inaccessible to decision - makers or the public.
Response 27
The Draft EIR addresses the potential impacts of the proposed Project referenced by the
commenter as well as Mitigation Programs for these environmental effects. The Traffic
Mitigation Program in Section 4.9 of the Draft EIR includes the provision of a second
southbound left -turn on Newport Boulevard at 19th Street and notes that the proposed
improvement is anticipated to require modifications to the medians and incremental widening of
the street on one or both sides of the roadway depending on the final design. Additional right -of-
way may be required on one or both sides of Newport Boulevard. Direct physical impacts are
anticipated to be limited to roadway components including median hardscape and landscape.
With respect to 17th Street, the Mitigation Program proposes improvements to the intersection of
Newport Boulevard at 17`h Street. The Draft EIR proposes a fourth through lane on the
southbound approach and a dedicated right -turn lane on the northbound approach. The
proposed improvement in anticipated to require modifications to the medians and incremental
widening of the street on one or both sides of the roadway depending on the final design.
Improvements may also require modifications to the frontage road along the easterly side of
Newport Boulevard. Additional right -of -way may be required on one or both sides of Newport
Boulevard. Direct physical impacts are anticipated to be limited to roadway components
including median hardscape and landscape.
Response 28
The site cleanup would be funded by the property owners.
Response 29
The potential threat from a tsumani is addressed in Section 4.4, Hydrology and Water Quality, of
the Draft EIT. The Draft EIR states
.... Due to the Project's proximity to the coast, inundation by tsunami is possible,
and the Lowland is located within the tsunami warning area designated in the
City's General Plan. West Coast Highway and existing development lie between
the Project site and the Pacific Ocean and. The proposed Project was also
evaluated against a tsunami inundation map used for emergency preparedness
(Newport Beach Quadrangle, CA Department of Conservation; March 15, 2009).
The proposed development footprint remains out of the tsunami inundation area
and the impacts from potential tsunami effects under a condition of future sea
level rise are considered less than significant. It is also noted that the City has an
Emergency Management Plan, which includes procedures and evacuation plans
in the event of tsunamis. Therefore, risks to development areas on the Project
site are considered less than significant.
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Response 30
The Applicant's comments are noted
Response 31
The Applicant's comments are noted
Response 32
Please refer to the response to Comment 25. The opinions of Commissioner Hillgren are noted
Response 33
The opinions of the Applicant are noted.
Response 34
With respect to habitat restoration, please refer to the response to Comment 4. The proposed
Project includes approximately 118.4 acres of proposed restoration area as native habitat either
by the Applicant as a part of the Project's biological resources mitigation obligations. The exact
amount of acreage within the Lowland Open Space area that would be required to be restored
as native habitat to satisfy the mitigation requirements of the proposed Project has not been
established because it would be subject to the approval of regulatory agencies including the
USACE, CDFG, USFWS, RWQCB, and the Coastal Commission. If the Project's mitigation
requirements do not require 118.4 acres, any remaining acreage requiring restoration would be
placed in a reserve area (mitigation bank) or similar mechanism and may be made available to
third parties seeking off -site areas to fulfill their respective mitigation obligations. The area would
be restored in accordance with the Project's Habitat Restoration Plan.
Response 35
The exhibit the commenter is referring to is from Section 4.9, Transportation and Circulation, of
the Draft EIR and is only intended to illustrate turning movements. A more detailed
representation of the Bluff Road/West Coast Highway intersection is provided on Sheet 7 of the
Tentative Tract Map provided as Exhibit 3 -14 in Section 3.0, Project Description, of the Draft
EIR).
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NEWPORT BANNING RANCH
January 6, 2011
Steve Ray
Banning Ranch Conservancy
P.O. Box 16071
Newport Beach, CA 92659 -6071
Re: Newport Banning Ranch "Willing Buyer" Letter
Dear Mr. Ray:
The purpose of this letter is to respond to your request for a "willing seller" letter from
the owners of the Newport Banning Ranch property ("NBR ") to assist you in your efforts
to locate and secure funding for acquisition of NBR as open space. You will recall,
before your request for such a letter can be presented to the owners for their
consideration, we have asked you to produce a "willing buyer" letter that would outline
the various terms that would be pre- requisites to any discussion regarding an acquisition
of the property. Although you previously committed to do so in September 2010, we
have not received anything from you. You have instead amended your commitment to
ask us for an outline of terms that would need to be addressed in any "willing buyer"
letter. This letter responds to that request. Once we receive your "willing buyer" letter,
we will present that to the owners for their consideration.
As you know, NBR site is a very complex piece of property. ]'he land is heavily
impacted by more than 60 years of intensive oil production activity encumbering most of
the surface. These operations are governed by an entity separate and apart from the NBR
surface ownership group. Any re -use or acquisition discussion will need to deal with the
issues related to this diverse reality of surface and mineral ownership and rights thereto.
Nevertheless we understand that, despite the passage of nearly five years since City
Council and voter approval of the General Plan Update without any apparent progress
thus far in securing public or private funds, you desire to continue to pursue the "open
space" alternative. On the other hand, we continue to believe that the second option in
the General Plan, a limited, mixed -use residential village to be developed pursuant to a
comprehensive development plan, is the only achievable alternative — and one that will
clean, restore, and protect more than 60% of the property as permanent open space at no
cost to the public.
In order to respond to your request, the following is intended to outline a number of
important areas of concern and terms that would have to be definitively addressed in any
Newport Banning Ranch LLC
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Banning Ranch Conservancy
"Willing Buyer" Letter
January 6, 2011
potential "willing buyer" letter to acquire the property pursuant to the open space
alternative:
Nothing herein implies the NBR owners are willing sellers and that decision
can only be made by the owners and their respective boards who retain the
sole and unfettered discretion to accept or reject such a notion.
Identification and Qualification of Proposed Buyer ('Buyer ")
• Evidence that Buyer is anon -profit corporation or similar entity formed for the
primary or exclusive purpose of acquiring, preserving and maintaining open space
and that has the ability to pay the Purchase Price (see definition below).
• Description of Buyer's management team and related experience documenting
Buyer's strategy and providing evidence as to Buyer's capabilities related to oil field
clean -up, habitat restoration, and long -term management of the property.
Oil Remedialion and Clean -up
• Under the General Plan open space alternative there would be no regulatory
requirement or financial incentive for the mineral rights owner to consolidate surface
operations. 1-low does the Buyer propose to handle this matter?
• How do you propose to handle the fundamental issue of seller indemnification and
release of liability?
Restoration
Without the economic incentive for consolidation of oil operations or funding
necessary for remediation that is directly associated with the limited development
alternative in the General Plan (being pursued by the owners of NBR), public access
and habitat restoration is likely to be delayed significantly, or could only occur in
small areas around and intermixed with the complex network of existing oil roads,
un- remediated areas, wells, and other facilities. How does the Buyer propose to
handle this matter?
Valuation Issues
Commitment to methodology for valuation. The Purchase Price shall mean the fair
market value of Newport Banning Ranch as determined by an appraisal prepared by
an MAI appraiser selected by NBR from a list of MAl appraisers mutually agreed to
by the City of Newport Beach and NBR, and shall assume that all costs have been
expended by NBR. to fully remediate the Newport Banning Ranch for the
development alternative purposes. Costs and fees to acquire entitlements shall not be
included in the Purchase Price. The appraisal would use the General Plan's
Development Alternative (including 1,375 market rate residential units) as the highest
and best use, and shall assume (i) receipt of all requisite governmental entitlements,
subdivision maps, approval of engineering plans and other permits (other than
building permits) for development on not less than 40% of the NBR, and (ii) that the
.Development Agreement is in effect.
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Banning Ranch Conservancy
"Willing Buyer" Letter
January 6, 2011
While not endorsing City efforts, it should be noted that a Consultative Pricing Study
independently performed by the City in 2009 derived a value for the property in
excess of $200,000,000.
No Partial Acouisitions
Acknowledgement that Buyer intends to purchase entire property at close of escrow
and that there are no proposed partial acquisitions.
Funding Issues
Detailed identification of Buyer's non - contingent funding sources and evidence of
commitments.
Other
• Acknowledgement that NBR will continue to process the applications necessary to
develop the limited mixed -use residential village, as authorized by the General Plan.
• Acknowledgement that Buyer would work with the City of Newport to resolve public
roadway and parks needs.
• Acknowledgement that NBR, if acquired, be deed restricted in perpetuity for open
space
In closing, we would like to reiterate our many prior solicitations to you and the Banning
Ranch Conservancy, that you consider working with us to create a consensus plan for
Newport Banning Ranch.— a plan that:
• Includes an appropriate development component that can help accomplish all of the
challenges outlined in this letter— at no cost to the public;
• Includes a major natural open space element that can serve as a centerpiece for the
future Orange Coast River Park;
• Includes a. role for Banning Ranch Conservancy in planning, restoring and managing
the natural open space clement.
We look forward to your written response to the issues raised in this letter. Thank you.
Sin rely,
ichacl A. Mohler
N wport Banning Ran It LLC
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SECTION 4.0
CLARIFICATIONS AND REVISIONS
This section includes recommended clarifications and revisions to the EIR. This section is
organized by respective sections of the EIR. Deleted text is shown as striktanut and new text is
underlined.
TABLE OF CONTENTS
The Table of Contents has been revised and is incorporated into the Final EIR as follows:
4.14 -23 NMUSD School Capacity and Enrollment for 2010 - 2011 ..............4.14 -20
SECTION 1.0: EXECUTIVE SUMMARY
Project Objective 14 on page 1 -7 has been corrected and is incorporated into the Final EIR as
follows:
Implement a Water Quality Management Program within the Project site that will
utilize existing proposed natural treatment systems and that will improve the quality
of urban runoff from off -site and on -site sources prior to discharging into the Santa
Ana River and the Semeniuk Slough.
To further articulate, the following Project Objective is provided and is incorporated into the Final
EIR as follows:
17. Provide for annexation to the Citv of Newport Beach those oortions of the
Project site within the City's Sphere of Influence following approval by the
City and the California Coastal Commission of the Project throuah the
submittal of an application for annexation to the Local Agency Formation
Commission of Orange County fLAFCO).
SECTION 3.0: PROJECT DESCRIPTION
Project Objective 14 on page 3 -9 has been corrected and is incorporated into the Final EIR as
follows:
Implement a Water Quality Management Program within the Project site that will
utilize existing natural treatment systems and that will improve the quality
of urban runoff from off -site and on -site sources prior to discharging into the Santa
Ana River and the Semeniuk Slough.
To further articulate, the following Project Objective is provided and is incorporated into the Final
EIR as follows:
17. Provide for annexation to the City of Newport Beach those portions of the
Project site within the City's Sphere of Influence following approval by the
City and the California Coastal Commission of the Project throuah the
submittal of an application for annexation to the Local Agency Formation
Commission of Orange County fLAFCO).
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Page 3 -19 has been revised and incorporated into the Final EIR as follows:
Resort Colony Road and Local Road Adjacent to the South Family Village
Resort Colony Road is proposed as a public Local Road that would be accessed from
Bluff Road and North Bluff Road. The loop road would provide access to the proposed
Resort and Residential land use areas in the southern portion of the Project site. This
roadway adjacent to the Resort Colony is proposed with one travel
lane in each direction, a pe des+.,^^ ,oIL..,ay eR the iRIaR l side (aEd aGeRt to
foot -wide walkways on each side of the street (Exhibit 3 -10e; Cross - Section G -G).
Resort Colony Road joins the Local Road adjacent to the Reside ^F, ^I (RL ^ ^a one) I^ ^a
use areas South Family Village located north of the VESWR I^ ^a use area Resort Colonv-
This roadway would be constructed as a public Local Street with one travel land and one
parking lane in each direction and four - foot -wide walkways on each side of the street
(Exhibit 3 -10f; Cross - Section 1 -1).
Page 3 -22 has been revised and incorporated into the Final EIR as follows:
The Project proposes a Master Plan for Trails and Coastal Access comprised of
public pedestrian paths, on- street bicycle trails, and off - street multi -use trails to
provide coastal access and public mobility within the Project site. The proposed
pedestrian and bicycle trails would provide connectivity among open space,
parks, residential, resort, commercial, and mixed -use on -site land uses as well as
public access and connections to existing off -site public trails, including the Santa
Ana River and trails located in the Talbert Nature Preserve, Fairview Regieaat
Park located further to the north, and existing walks and trails extending along
West Coast Highway and the beach located to the south. A Multi -use Trail, Open
Space Interpretive Trails, the Bluff Park Trail, the Pedestrian and Bicycle Bridge,
On- Street Bicycle Trails, and Pedestrian Walkways are proposed as a part of the
Project.
Section 3.7 of the Project Description has been revised and is incorporated into the Final EIR as
fol lows:
Development implementation is designed to ensure efficient use of soil
movement to balance landform grading and bluff /slope restoration and to make
efficient use of existing infrastructure locations and connection points within and
adjacent to the Project site. Development would be tied to corresponding
requirements for public parks and Upland and Lowland habitat dedication and
restoration, and would have functioning infrastructure.
Following the final approval of the Project by the City and the Coastal
Commission, and following consolidation of oil production wells into the OF land
use district as describe in the Newport Banning Ranch Planned Community
Development Plan, either the Applicant or the City would file a ore - application
with Orange County LAFCO requesting approval of the annexation of the 361
re portion of the Project site located in the City's Sphere of Influence to the Citv
of Newport Beach. The annexation pre - application would be consistent with the
terms of the Pre - Annexation and Development Agreement between the Citv and
the Applicant approved by the City, with the approved pre - zoning approved by
the City for the Proiect site and with the City's General Plan. Following approval
or conditional approval of the annexation application, the entire 361 acres within
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the Newport Beach Sphere of Influence would be annexed to the City in one
phase. Following completion of annexation proceedings. Project implementation
may commence according to the following plan (Table 3-31.
The following narrative is incorporated into the Final EIR, Section 3.0, Project Description, as
Section 3.14, Annexation, to provide additional explanation regarding the annexation process.
56000 et sea. (Cortese- Knox - Hertzberg Local Government Reorganization Act of
2 00) for annexation of approximately 361 acres of the Project site to the City.
The pre - application would be submitted pursuant to the terms of the Pre -
Annexation and Development Agreement agreed to by the City and the Applicant
and as approved by the City and would be consistent with the approved pre -
z ning approved by the City for the Project site and the City's General Plan. As
part of the annexation pre - application. the City would submit a plan for providing
public services to include the type, level, range, timing, and financing of services
to be extended to the Project site including requirements for infrastructure or
other public facilities.
the City of Newport Beach retail water agency boundary will be proposed to
expand this boundary to incorporate the Project site to provide water service to
sewer service boundaries would be proposed to expand this boundary to
incorporate the Project site to provide sewer service for the proposed Project. No
other changes of organization affecting any public agencies in the Project area
would result from the development of the proposed Project or annexation of the
361 acres of the Proiect site within the Newport Beach Sphere of Influence to the
City of Newport Beach
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Table 3 -2 on page 3 -35 has been revised to incorporate footnote f and is incorporated into the
Final EIR as follows (see following page):
TABLE 3 -2
MASTER DEVELOPMENT PLAN STATISTICAL SUMMARY
SECTION 4.2: AESTHETICS AND VISUAL RESOURCES
Page 4.2 -11 has been corrected and incorporated into the Final EIR as follows:
BP District and IP District Regulations
• Maximum IP District Building Height- 36 feet59
• Maximum BP District Building Height - 18 feet
• Maximum Building Coverage - 4-0 5 percent of total rg <?s site area
Page 4.2 -17 of Section 4.2 has been modified and incorporated into the Final EIR as follows:
59 Elevators, mechanical space, chimneys, towers and architectural treatments, intended to add interest and
variation to roof design, and that do not exceed 10 percent of the roof area, or exceed the height restriction by
more than 12 feet, are permitted.
RTrojedsW ewpanUp151RTORTCA31512.doc
Density
Gross
Net
(dul
Retail
Resort
Land Use
Site Planning Area
Acrese
Acres'
gross ac)
Units
(sf)d
Inn
Designation
No. IDescription
OPEN SPACE PRESERVE
1. Upland Habitat Conservation, Restoration, and Mitigation Areas
UOS /PTF
1a
I West Coast Highway Bluff Area
15.3
14.3
-
0
0
0
UOS /PTF
1b
Southern Arroyo CSS /Grassland
28.3
28.0
-
0
0
0
Area
UOS /PTF
1c
Scenic Bluff CSS /Grassland Area
13.0
13.0
-
0
0
0
UOS /PTF
1d
Vernal Pool Preservation Area
3.2?
3.2`
-
0
0
0
UOS /PTF
1e
South Upland CSS /Grassland
19.4
18.1
-
0
0
0
Area
UOS /PTF
1f
Northern Arroyo Grassland Area
5.8
5.5
-
0
0
0
UOS /PTF
1g
North Upland CSS /Grassland
b
16.3
13.5
-
0
0
0
Area
UOS /PTF
1h
Minor Arroyo Grassland Area
1.2
1.1
-
0
0
0
Subtotal
102.5
96.7
-
0
-
0
Gross acres of site planning areas are measured to the centerline of all public roads where such roads are shown on the Master
Development Plan. Net acres of site planning areas are measured to the edge of the rights -of -way for all public roads where such
roads are shown on the Master Development Plan (i.e., net acres exclude public road rights -of -way).
" The Right -of -Way Reservation for the 19t' Street extension, from the Project site's easterly boundary to the Santa Ana River,
encompasses approximately 3.1 acres, including approximately 0.6 acre of SPA 1g, 2.3 acres of SPA 2a, and 0.2 acre of SPA 3b.
The Bluff Toe Trail is located within the non - exclusive access easement identified as Site Plan Area (SPA) 51b, Oil Access Road.
d Up to 2,500 sf of commercial may be transferred to a Residential Land Use District in accordance with the provisions of the NBR -PC
provided the total area of commercial uses for the Master Development Plan does not exceed 75,000 sf.
Includes a water quality basin.
f The drainage area tributary to the vernal pool contains approximately 3 acres and is composed not only of the 3.2 net acres
SPA 1d, Vernal Pool Preservation Area but 0.4 net acre of the 0.6 net acre in SPA 91b Vernal Pool Interpretive Area Any and all
iataqpraiiarming within SPA 9h shall respect the 3.6 -acre Vernal Pool trihutary drainage area, and meet with the aPI2 of th
State and federal resource agencies and the California Coastal Commission.
Source: FORMA 2011.
SECTION 4.2: AESTHETICS AND VISUAL RESOURCES
Page 4.2 -11 has been corrected and incorporated into the Final EIR as follows:
BP District and IP District Regulations
• Maximum IP District Building Height- 36 feet59
• Maximum BP District Building Height - 18 feet
• Maximum Building Coverage - 4-0 5 percent of total rg <?s site area
Page 4.2 -17 of Section 4.2 has been modified and incorporated into the Final EIR as follows:
59 Elevators, mechanical space, chimneys, towers and architectural treatments, intended to add interest and
variation to roof design, and that do not exceed 10 percent of the roof area, or exceed the height restriction by
more than 12 feet, are permitted.
RTrojedsW ewpanUp151RTORTCA31512.doc
Banning Ranch EIR
onses to Comments
Grading and Construction
The Project is proposed to be implemented over a period of approximately
mine years.
SECTION 4.3: GEOLOGY AND SOILS
Paragraph 2 of page 4.3 -6 has been revised and incorporated into the Final EIR as follows:
The Lowland area encompasses approximately 147 acres in the northwest
portion of the Project site at an average elevation of 1 to 10 feet-abeve -msl. This
area consists of remnants of the Santa Ana River floodplain and contains
channels conveying drainage from surrounding areas at higher elevations to the
Santa Ana River through the Semeniuk Slough (also known as Oxbow Loop)
(see Exhibit 3 -3, Existing Topographic Site Conditions, Section 3.0, Project
Description).
SECTION 4.4: HYDROLOGY AND WATER QUALITY
Page 4.4 -6 has been updated and is incorporated into the Final EIR as follows:
Municipal Storm Water Permitting (MS4 Permit)
The State's Municipal Storm Water Permitting Program regulates storm water
discharges from MS4s. MS4 Permits were issued in two phases. Phase I was
initiated in 1990, under which the RWQCBs adopted NPDES storm water permits
for medium (serving between 100,000 and 250,000 people) and large (serving
more than 250,000 people) municipalities. As part of Phase II, the SWRCB
adopted a General Permit for small MS4s (serving less than 100,000 people) and
non - traditional small MS4s including governmental facilities such as military
bases, public campuses, and prison and hospital complexes (WQ Order
No. 2003- 0005 -DWQ).
R8-2010-0062). Re- issuance of this permit would result in future changes to the
new developments and redevelopment projects. As part of the Permit
requirements, the County of Orange as the Principal Permittee and the co-
WQMP and accompanying Technical Guidance Document was approved by the
Santa Ana RWQCB on May 19. 2011 with an effective implementation date of 90
days following the approval (August 17. 2011).
so Hydromodifcation is generally defined as the alteration of natural flow characteristics.
RTrojedswewparftMl &RTMRTC -031512.doc
Banning Ranch EIR
onses to Comments
Page 4.4 -7
Orange County Storm Water Program 2003- Drainage Area Management
Plan (DAMP)
Section 402(p) of the Clean Water Act, as amended by the Water Quality Act of
1987, requires that municipal NPDES Permits include requirements (1) to
essentially prohibit non -storm water discharges into municipal storm sewers and
(2) to control the discharge of pollutants from municipal storm drains to the
maximum extent practicable. In response to this requirement, the Orange County
Drainage Area Management Plan (DAMP) was developed in 1993, which has
been updated several times in response to requirements associated with NPDES
permit renewals (County of Orange et al. 2003). The City is a permittee covered
by the requirements of this permit. The next major update of the OC DAMP is
expected in 2012 and would include the incorporation of the 2011 Model WQMP
and accompanying Technical Guidance Document.
Pages 4.4 -9 and 4.4 -10:
/tv of Newport Beach Local Implementation Plan (LIP) and Water Qua /itv
anaaement P /an /WQMPI
The City's Local Implementation Plan (LIP) was prepared as part of a compliance
program pursuant to the Third Term NPDES Permit. The LIP presents the
actions, activities and programs undertaken by the City, as well as current
activities and programs, to meet the requirements of the NPDES Permit and to
improve urban water quality. The City updates its LIP annually and the last
updated included the Fourth Term NPDES Permit, New Model WQMP and
Technical Guidance Document. Although the LIP I ietee,de,d to a the
bas's fe.- City a plianee .duFing the five yeaF peFie_d of the I ID is „hieet to
e,tif Atonns ;;Rd updates ee the City .deter...ieee .. or as .tireete.d by
The LIP, 1R ee..i.ie.Niee ..,7th the Geu Rty DAMP ie the erieei eel polio., eerl
ui.dar.ee ,deeUr..eet for the Git y a AIDIICQ Storm 1Alater Dre..ro... SeetinRs A 7 0
and A 4 0 of the LIP address new .deyelepMe..t e...d ..ifleer.t re.de„elee...e..t
e..trels fer i retiee DAADe Rte a eetel G9MpIdaRGe Aete
!le May 22 2009 , ..
the Cede Ae o1 QG13 r issued the A.4534 Permit fer the
..
SaRte Ae Deeler.
ef QFaRge (`eY..ty tflrrder RO 2009 _0030\ Re_issuaRAP. of the
fourth term of this permit resulted i eheeees to the 2003 -DAMP e...d Git., of
Newpert QeaGh LIP peal ster.... ,..ter a This updated CeuFth Ter... a ...it
elu dee new FeqUiFeFnents erteieiee to hydFeme.difioatien and le.., impaet
deyelepmeRt (1=19) featu Fes aRRARiated yilth new develepmeRts aRQ
re,deyeelle....,er. to Bete UPthie 42 .RARthe a#pr the a ...it e.deetiee , th
....Model e re....t.,
of nree a the Drieei He
el Dermie .et fiRalize a
\A QMP that
inGGFPGFates feasibility eriterie for LID and by dremerl'.fieetien reqUireMentS.
CellewiRg the SaRte A..e D1 QGB's a .el of the Mendel \A QMP the Git., will
he r real to Update their LIP peal et..rm ,`.ter a e.d i rote the
Model \A/(IAAD their .di ,el
ae,., lnie�a.ssrcite ^ ^r., ^ ^sse for -:,ew
R \ProjeclsWewporAJ0151RTC \RTC -031512.doc 4 -6 Ciarifieations and
Banning Ranch EIR
onses to Comments
LID features associated with new developments and redevelopment oroiects.
The 2011 Model WQMP and accompanying Technical Guidance Document was
developed to incorporate the LID hierarchy criteria and hvdromodification
requirements. The prescribed hierarchy of treatment for site design and LID
features in ranking order includes infiltration. evapotranspiration. harvest/use
biotreatment, and treatment control BMPs. In addition to the LID hierarchy
hvdromodification controls for the 2 -year storm event have been added for all
priority projects-
As required by the City's municipal ordinances on storm water quality
management, a project's WQMP must be submitted to the City for approval prior
to the City issuing any building or grading permits. Since the proposed Project
includes the development in multiple categories listed above (e.g., residential and
commercial uses, parking), the Project is subject to the requirements of the City's
WQMP. This includes meeting as all of the new requirements of the updated
Fourth Term MS4 Permit and associated revised LIP. These updated
requirements may will include LID features, hvdromodification controls, and
erosion /sediment controls.
SECTION 4.5: HAZARDS AND HAZARDOUS MATERIALS
Section 4.5, Hazards and Hazardous Materials has been revised and is incorporated into the
Final EIR as follows:
There are two existing schools and one Community College campus (under
construction) located within approximately' /4 mile of the Project site:
• Whittier Elementary School, 1800 Whittier Avenue, Costa Mesa; located
approximately 1/4 mile to the east.
• Carden Hall, 1541 Monrovia Avenue, Newport Beach; located
}F44 a adiacent to the Proiect site's eastern boundary.
• oast Community
College District's
Newport
Beach Learning
Center, an
educational facility
for college students,
adult education,
and high school -
aged students, located
adiacent to
the
Proiect site's eastern
boundary.
....On -site oilfield and other remedial activities would result in potentially greater
release of contaminants, predominantly hydrocarbons, into the air during soil
disturbance due to aeration during handling (i.e., earth moving) of the
contaminated soils than occurs in the existing condition. Section 4.10, Air Quality,
of this EIR addresses the construction and operational air quality emissions
anticipated from the proposed Project. The air quality analysis determines that
there would be less than significant impacts related to emissions during remedial
activities on the Project site. Also, the majority of the Project site is located
further than' /4 mile from existing kindergarten through 12`h grade schools and the
under - construction Coast Community College District's Learning Center. Based
RTrojedsW ewpartll015,RTORTC- 031512.doc
Banning Ranch EIR
onses to Comments
on these factors, there would be a less than significant impact to existing and
r cj schools from temporary handling of contaminated soils on the Project
site during oilfield consolidation and remediation.
Off -site transport of impacted materials is planned to be minimized as part of the
overall remedial approach.... Therefore, with implementation of SC 4.5 -1, there
would be a less than significant impact related to transport of soils within '/ mile
of existing and under - construction schools.
With proposed Project implementation, the extent of oilfield operations would be
consolidated onto 2 areas totaling 16.5 acres, which would be located along the
southwestern margin of the Project site and more than '/4 mile from existing
schools and the under - construction Learning Center, and the proposed
residential, commercial, recreational, visitor - serving, and open space land uses
would not emit or otherwise handle hazardous materials, substances, or wastes
(see PDF 4.5 -1). The nature of anticipated future oilfield operations in the
consolidated area would not be different than the existing operations. Therefore,
operation of the proposed Project would result in a less than significant impact to
schools in the Project vicinity.
Impact Summary: Less than Significant. There would be a less than
significant impact to the existing schools and the under - construction Learning
Center within '/4 mile of the Project site and /or from off -site haul routes during on-
site remedial activities and proposed Project construction with implementation of
SC 4.5 -2. There would be no impact to existing and under - construction schools
within '/4 mile of the Project site from proposed Project operations as continued
oil operations are proposed pursuant to PDF 4.5 -1 to be limited to two
consolidated oil facilities located along the southwestern portion of the Project
site.
SECTION 4.6: BIOLOGICAL RESOURCES
MM 4.6 -6 has been revised to address potential bird strike issues as follows:
MM 4.6 -6 Migratory Bird Treaty Act .... T rotect bird species on site. any front
glass railings, screen walls. fences and gates that occur adjacent to
Project natural open space areas shall be required to use materials
designed to minimize bird strikes. Such materials may consist. all or in
part. of wood: metal: frosted or partially- frosted glass. Plexiglas or other
visually permeable barriers that are designed to prevent creation of a bird
shall be installed to provide coverage consistent with manufacturer
specifications. All materials and coatings shall be maintained throughout
the life of the development to ensure continued effectiveness at
addressing bird strikes and shall be maintained at a minimum in
accordance with manufacturer specifications. Prior to issuance of a
grading permit. the Applicant shall submit plans showing the location
design. height and materials of glass railings, fences_ screen walls and
gates for the review and approval to the City and a qualified Biologist.
RTrojedsW ewpaTJ0151RTMRTC -031512.doc
Banning Ranch EIR
onses to Comments
SECTION 4.8: RECREATION AND TRAILS
Pages 4.8 -4 through 4.8 -5 has been revised and is incorporated into the Final EIR as follows:
The City of Huntington Beach is located immediately west of and across the
Santa Ana River from the Project site. City recreational facilities within two miles
of the Project site include Gisler Park, Bauer Park, Burke Park, Sowers Park,
Edison Park, Seeley Park, Eader Park, Le Bard Park, and Hawes Park. These
park facilities offer a variety of recreational amenities including picnic areas,
athletic fields, and tot lots. While these parks are located near the Project site,
their main function is to serve the residents of the City of Huntington Beach, and
they are not intended to serve the recreational demand of residents outside of
the City.
SECTION 4.9: TRANSPORTATION AND CIRCULATION
Page 4.9 -27 has been revised and incorporated into the Final EIR as follows:
Mitler Improvements on 19th Street would be required to connect...
Table 4.9 -38 has been changed and incorporated into the Final EIR to reflect the following
corrections:
TABLE 4.9 -38
GENERAL PLAN BUILDOUT WITH PROJECT AND 19TH STREET BRIDGE:
MPAH NETWORK ALTERNATIVE
Intersection
Control
AM Peak Hour
PM Peak Hour
ICU/ Delay
LOS
ICU/ Delay
LOS
1
Monrovia Ave /16th St
S
0.31
A
.35
A
2
Placentia Ave /15th St
S
0.50
A
0.56
A
3
Superior Ave /15th St
S
0.51
A
0.51
A
4
Superior Ave /Placentia Ave
S
0.63
B
0.50
A
5
Newport Blvd /Hospital Rd
S
0.63
B
0.75
C
m
6
Orange St/W. Coast Hwy
S
0.74
C
0.77
C
0
7
Prospect St/W. Coast Hwy
S
0.88
D
0.81
D
°-
3
8
Superior Ave /W. Coast Hwy
S
0.90
D
0.85
D
Z
9
Newport Blvd /W. Coast Hwye
S
0.89
D
0.69
B
10
Riverside Ave /W. Coast Hwy
S
0.74
C
0.90
D
11
Tustin Ave/W. Coast Hwy
S
0.61
B
0.84
D
12
Dover Dr /W. Coast Hwy
S
0.79
C
0.90
D
13
Magnolia St/Hamilton Ave
S
0.73
C
0.74
C
14
Bushard St/Hamilton Ave
S
0.51
A
0.63
B
0
15
Brookhurst St/Hamilton Ave (Victoria St)
S
0.77
C
1.00
E
ED
16
Magnolia SUBanning Ave
S
0.61
B
0.51
A
a
17
Bushard St/Banning Ave
S
0.69
B
0.76
C
m
18
Brookhurst St/Banning Ave
S
0.45
A
0.51
A
19
Magnolia St/Pac ific Coast Hwy
S
0.82
D
1.18
F
=
20
Brookhurst St/Bushard St
S
0.30
A
0.32
A
21
Brookhurst St/Pacific Coast Hwy
S
0.73
C
0.91
B
E
RTrojedswewparftMl &RTMRTC -031512.doc
Banning Ranch EIR
onses to Comments
Intersection
Control
AM Peak Hour
PM Peak Hour
ICU/ Delay
LOS
ICU/ Delay
LOS
22
Placentia Ave /Victoria St
S
0.71
C
0.81
D
23
Pomona Ave /Victoria St
S
0.70
B
0.82
D
24
Harbor Blvd /Victoria St
S
0.66
B
0.77
C
25
Newport Blvd/Victoria St
S
0.48
A
0.44
A
26
Newport Blvd /Victoria St (22nd St)
S
0.86
D
0.53
A
27
Whittier Avail 9th St
S
0.84
D
0.78
C
28
Monrovia Ave /19th St
S
0.79
C
0.75
C
29
Placentia Ave /19th St
S
0.54
A
0.57
A
y
30
Pomona Ave /19th St
S
0.57
A
0.73
C
a
31
Anaheim Ave /19th St
S
0.57
A
0.68
B
N
32
Park Ave /19th St
S
0.53
A
0.60
A
°
U
33
Harbor Blvd /19th St
S
0.49
A
0.63
B
34
Newport Blvd /19th St
S
1.08
F
1.03
F
35
Newport Blvd /Broadway
S
0.69
B
0.87
D
36
Newport Blvd /Harbor Blvd
S
0.78
C
1.12
F
37
Newport Blvd /18th St (Rochester St)
S
0.82
D
1.09
F
38
Placentia Ave /18th St
S
0.46
A
0.48
A
39
Whittier Ave /17th St
S
0.41
A
0.52
A
40
Monrovia Ave /17th St
S
0.34
A
0.44
A
41
Placentia Ave /17th St
S
0.39
A
0.49
A
42
Pomona Ave /17th St
S
0.51
A
0.54
A
43
Superior Avail 7th St
S
0.80
C
0.80
C
44
Newport Blvd /17th St
S
0.83
D
0.93
E
45
Orange Ave /17th St
S
0.42
A
0.61
B
m
46
Santa Ana Ave /17th St
S
0.43
A
0.51
A
47
Tustin Ave /17th St
S
0.44
A
0.57
A
0
0
48
Irvine Ave /17th St
S
0.64
B
0.91
E
U
49
Placentia Ave /16th St
S
0.25
A
0.30
A
50
Superior Ave /16th St
S
0.57
A
0.50
A
51
Newport Blvd /16th St
S
0.68
B
0.75
C
52
N. Bluff Rd/Victoria St
S
0.93
E
0.87
D
53
N. Bluff Rd /19th St
S
0.64
B
0.72
C
54
N. Bluff Rd /17th St
S
0.58
A
0.59
A
°
55
Bluff Rd /16th St
U
0.25
A
0.33
A
y
56
Bluff Rd /15th St
S
0.29
A
0.35
A
O
57
Bluff Rd/West Coast Hwy
S
0.79
C
0.82NA
D
57a
17th St/West Coast Hwy
S
0.71
C
0-.82
C
57b
171" SU1510 St
S
0.31
A
0.43
A
Notes: S = Signalized, U= Unsignalized
Bold and shaded values indicate intersections operating at LOS E or F.
Intersection operation is expressed in volume -to- capacity (v /c) for signalized intersections using the ICU Methodology.
CMP intersection
Source: Kimley -Horn 2011.
R:\ProjedsW ewpaTJW &RTMRTC -031512.doc
Banning Ranch EIR
onses to Comments
The names of two of the SR -55 alternatives have been changed on pages 4.9 -133 and -134 and
are incorporated into the Final EIR as follows.
The " ^4*'^^' T- AFmo^^' F^h^^ ^^^ s ;Rt Elevated Turn Lanes Alternative proposes
improvements in increments, by first addressing 17th and 19th Streets and
Superior Avenue to improve congestion within the corridor. This alternative would
study whether improvements at the two ends of the corridor are adequate to
address congestion along the entire corridor, and determine the effects of such a
strategy.
The Vei4in^' T^'^'i^^' F^h^^^^meR Elevated Turn Lanes Alternative represents
a constrained network with improved mobility to 19th Street on the west side of
Newport Boulevard by adding:
• A ramp braid at the southbound Newport Boulevard tie -in at the SR -55;
• A free -right turn lane from Newport Boulevard to 19th Street (existing bus
turn -out to the west would be relocated); and,
• An eastbound 19th Street to northbound SR -55 flyover structure.
The Cut4cbver Freei.A.Fay Along Newport BouleyaFd Cut and Cover Alternative
would involve the construction of an entirely new structure below Newport
Boulevard. The alternative would provide a four -lane controlled access freeway
under Newport Boulevard from 19th Street to Industrial Way and an interchange
at 19th Street. Newport Boulevard would be maintained as an eight -lane arterial
with side street access.
SECTION 4.10: AIR QUALITY
The references to URBMEIS has been changed to CalEEMod in the Final EIR as follows:
Page 4.10 -7
Fugitive dust emissions (PM10) were calculated using the IRREMIS .., ^a^
CaIEEMod, USEPA's AP -42, and SCAQMD's CEQA Air Quality Handbook.
Emissions from operation of the residential, commercial, and other Project development
after completion were calculated using URBMMIS CaIEEMod. TAC emissions were
determined from the generated PM 10 and VOC emissions.
Page 4.10 -20
The results of the URBMMIS CaIEEMod calculations for Project construction are
shown in Table 4.10 -7, which shows the estimated maximum daily emissions for
each construction year. Appendix G of the EIR includes the CalEEMod model
output details, including unmitigated and mitigated emissions on site and off site
for each construction activity for each year; Table 4.10 -7 summarizes the
findings. The data are compared with the SCAQMD mass daily thresholds.
RTrojedsW ewparftMl &RTMRTC -031512.doc
Banning Ranch EIR
onses to Comments
Revised Tables 4.10 -7 and 4.10 -8 have been revised and are incorporated into the Final EIR as
follows:
TABLE 4.10 -7 (REVISED MARCH 2012)
ESTIMATED MAXIMUM DAILY
CONSTRUCTION EMISSIONS: UNMITIGATED'
Year
voc
NOx
CO
sox
PM10
PM2.5
2014
2813
467 -10Z
93134
<0.5
44
449
2015
2922
423122
423130
<0.5
485Z
3311
2016
2519
445 -1D4
408 -116
<0.5
2929
489
2017
3425
46-5-125
454-M
<0.5
3715
U1D
2018
2712
8251
87
<0.5
4520
5
2019
3219
4&3-U
4- 28-142
<0.5
2296.
6
2020
4714
I 53A15
8711
<0.5
4-�a2-
3
2021
425
2-522
4693
<0.5
916
1
2022
445
2320
44-El
<0.5
915
1
2023
441_.
2219
42A9
<0.5
916
1
SCAQMD Thresholds
(Table 4.10 -6)
75
100
550
150
150
55
Exceed Threshold?
No
Yes
No
No
No
No
VOC: volatile organic compounds; NOx: nitrogen oxides; CO: carbon monoxide; Sox: sulfur oxides; PM10:
particulate matter 10 microns or less in diameter; PM2.5: particulate matter 2.5 microns or less in diameter.
Notes: Detailed data in Appendix G.
` In pounds per day
TABLE 4.10 -8 (REVISED MARCH 2012)
ESTIMATED MAXIMUM DAILY
CONSTRUCTION EMISSIONS: MITIGATED - TIER 3 CONSTRUCTION
EQUIPMENT'
Year
voc
NOx
co
sox
PM10
PM2.5
2014
89
4299
9357
<0.5
4041
79
2015
17
60-822
328 -136
<0.5
4357
8-14
2016
16
`57-73
4.9 -124
<0.5
26-39
7-9
2017
2414
83100
463` 185
<0.5
34-49
811
2018
2312
44M
9593
<0.5
4321
45
2019
28-20
6879
439 -150
<0.5
233$
6 8
2020
47-15
48-51
93114
<0.5
48-33
3-4
2021
441
2425
4755
<0.5
4812
2
2022
44-2
2425.
4693
<0.5
401Z
2
2023
442
2324
4351
<0.5
481Z
2
SCAQMD Thresholds
(Table 4.10 -6)
75
100
550
150
150
55
Exceed Threshold?
No
No
No
No
No
No
VOC: volatile organic compounds; NOx: nitrogen oxides; CO: carbon monoxide; Sox: sulfur oxides; PM10:
particulate matter 10 microns or less in diameter; PM2.5: particulate matter 2.5 microns or less in diameter.
Notes: Detailed data in Appendix G.
In pounds per day
RTrojedsW ewpaTJn151RTMRTC -031512.doc
Banning Ranch EIR
onses to Comments
The following mitigation measure is proposed and incorporated into the Final EIR as follows:
MM 4.10 -13 Odor Complaints. The future homeowners associations for Newport
Banning Ranch shall be required to advise residents that complaints
shall be provided to prospective buyers /tenants of residential
development regarding the potential of odors from the Project.
The impact summary is revised and incorporated into the Final EIR as follows:
Without mitigation, regional (mass) emissions of NOx are forecasted to exceed
applicable thresholds in some construction years. MM 4.10 -1 would reduce the
emissions to less than significant. u,...,, yeF the availability of suff '.'nn4 T'n. 4
'
nn4nnHa „ o n'f pan4 And W Aida 1
"
SECTION 4.11: GREENHOUSE GAS EMISSIONS
To further encourage the use of electric vehicles, MM 4.11 -5 has been revised and is
incorporated into the Final EIR as follows:
MM 4.11 -5 Prior to the issuance of each building permit for multi - family buildings with
subterranean parking and the resort inn, the Applicant shall submit for
approval to the Community Development Director that the plans include
the (1) the designation of a minimum of three percent of the parking
spaces for electric or hybrid vehicles and (2) installation of facilities for
Level 2 electric vehicle recharging, unless it is demonstrated that the
technology for these facilities or availability of the equipment current at
the time makes this installation infeasible. Prior to the issuance of each
building permit for residential buildings with attached garages, the
Applicant shall submit for approval to the Community Development
Director that the plans (1) identify a specific place or area for a Level 2
charging station could be safely installed in the future: (2) includes the
necessary conduit to a potential future Level 2 charging station: and (3)
the electrical load of the building can accommodate a Level 2 charging
station.
SECTION 4.12: NOISE
Page 4.12 -10 has been revised and is incorporated of the Final EIR. Mitigation Measure 4.12 -1,
which is included in the Project to reduce construction noise to sensitive noise receptors, would
also be applicable to the Learning Center. Exhibit 4.12 -3 has also been updated.
Activities usually associated with sensitive receptors include, but are not limited
to, talking, reading, and sleeping. Land uses often associated with sensitive
receptors include residential dwellings, hotels, hospitals, day care centers, and
educational facilities. The surrounding noise - sensitive receptors adjacent to the
Project site are described below and shown in Exhibit 4.12 -3.
..East. Residential developments, including single - family residences on the
southwestern corner of 17th Street and Monrovia Avenue; multi - family
RTrojedsW ewparfiMl &RTMRTC -031512.doc
Banning Ranch EIR
onses to Comments
residences and mobile homes on 15'h Street west of Placentia; the
California Seabreeze and Parkview Circle communities, located
generally between 191h Street and 18`h Street in the City of Costa Mesa
contiguous to the Project site; and several mobile home parks, including
a development at 17`h and Whittier....
an educational facility for high school -aged students, college students
and adult education)....
MM 4.12 -10 has been revised and is incorporated into the Final EIR as follows:
MM 4.12 -10 Loading docks shall be sited to minimize noise impacts to adjacent
residential areas. If loading docks or truck driveways are proposed as part
of the Project's commercial areas within 200 feet of an existing home, an
8- foot -high screening wall shall be constructed to reduce potential noise
impacts.
SECTION 4.14: PUBLIC SERVICES AND FACILITIES
On pages 4.14 -2 to 4.14 -12 of Section 4.14, the term "mutual aid" has been changed and is
incorporated into the Final EIR with the term "automatic aid ".
Page 4.14 -3, the second sentence under Methodology been changed and is incorporated into
the Final EIR as follows:
To assist the Fire Department, the City retained the firm, Fire Force One, to
evaluate the City's ability to provide adequate response to the Project site a
of the evaluation of existing fire station sites and three potential locations for
future fire station sites RG I.A.Q-11 W the West n1,.,.,port area and the Gity
wtaele.
Page 4.14 -3, under Existing Conditions has been changed and is incorporated into the Final
EIR as follows:
The Costa Mesa Fire Department provides fire protection services through a44
auiemaiis aid a cooperative agreement to the Newport Terrace residential
community located north of 19th Street in the City of Newport Beach.
Page 4.14 -4, the first paragraph under Fire Department Response Times and Number of Calls
for Service has been changed and is incorporated into the Final EIR as follows:
The City of Newport Beach Fire Department's Policy Manual, agpKeved uuu
by the Fire Department in January 2010, identifies policies of the Fire
Department related to operating procedures including but not limited to response
time objectives. Policy 3.A.100, Department Goals, of the Fire Department's
Policy Manual identifies the standard operating procedures for the Fire
Department and states "Provide a safe, effective and expeditious response to
requests for assistance' (NBFD 2010).
Page 4.14 -6, the first paragraph under to Fire Department Response Times and Number of
Calls for Service has been changed and is incorporated into the Final EIR as follows:
RTrojedsW ewporW0151RTMRTC -031512.doc
Banning Ranch EIR
onses to Comments
The City's "turnout time' and "travel time" values are based upon national
standards published by the National Fire Protection Association (NFPA) in its
Standard 1710, "Organization and Deployment of Fire Suppression Operations,
Emergency Medical Operations, and Special Operations to the Public by Career
Fire Departments ", 2010 edition. The City has adopted the response time goals
identified in NFPA Standard 1710 which states "the fire department's fire
suppression resources shall be deployed to provide for the arrival of an engine
company within a 240 - second travel time to 90 percent of the incidents as
established in Chapter 4" (Fire Force One 2010). The maximum response times
are intended to be met 90 percent of the time. Acceptable delays that can be
attributed to the remaining 10 percent include units out of service for training and
maintenance, the closest unit is already assigned to another call, fire inspections
in which the crew is a distance away from their apparatus and similar instances.
Table 4.14 -3 has been revised and is incorporated into the Final EIR as follows:
TABLE 4.14 -3
NEWPORT -MESA UNIFIED SCHOOL DISTRICT
SCHOOL CAPACITY AND ENROLLMENT FOR 2010 -2011
School (Grade Level)
Net School Capacity'
Enrollment°
Available Capacity
Elementary (K -6)
2 7'
11,528
950
Secondary (7 -12)
11,361
10,275
1,086
District Total
23,47-3
21,803
LM
a Zareczny 2919 2011_
Zareczny 2949 2011_
Note: Ungraded elementary and secondary students are included into calculations.
Table 4.14 -4 has been revised and is incorporated into the Final EIR as follows:
TABLE 4.14 -4
AVAILABLE CAPACITY AT EXISTING NEWPORT -MESA UNIFIED SCHOOL
DISTRICT SCHOOLS NEAREST TO THE PROJECT SITE
RTrojedswewparftMl &RTMRTC -031512.doc
Net School
Available
Distance to the
School Name
Capacity'
Enrollment°
Capacity
Project Site (mi)
Elementary Schools
Newport Elementary
4�
429
2.2
if
Newport Heights Elementary
584
637
()
2.8
Pomona Elementary
(351) �)
2.6
48.5
Rea Elementary
530
445
2.8
577
LIL2
Victoria Elementary
�
384
3.2
)
RTrojedswewparftMl &RTMRTC -031512.doc
Banning Ranch EIR
onses to Comments
Page 4.14 -8 has been revised and is incorporated into the Final EIR as follows:
In accordance with SB 50, the construction of new schools requires a school
district to match State funds. The local match is typically provided by such funds
as developer fees, local General Obligation bonds, and /or Mello -Roos CFD
( "Special Taxes" that can be levied on property owners of newly constructed
homes within a CFD).
obtained funding f8F expansion Of 88ROFa ElementaFy an Gesta Mesa in 0002 62
The second paragraph under the heading "Local Funding" on page 4.14 -8 has been revised and
is incorporated into the Final EIR as follows:
In November 2005, residents within the boundaries of the NMUSD passed a local
Measure F authorizing the sale of $282 million in General Obligation bonds. In a
resolution adopted by the School Board on June 13, 2006, the School District
approved the tax rate of $18.87 for every $100,000 of assessed values for the
repayment of the bonds. Measure F is the second successful General Obligation
bond in the School District. Measure A was passed by the NMUSD voters in
June 2000 and authorized the sale of $110 million in General Obligation bonds.
Measure A funds
Gampus thFe ,,.hAut the a,S+.,Pt and to o Rd SGhe9l GapaGity di6tFiGt woe were
used by the School District to modernize everyK -12 school campus throughout
the District for ADA compliance. Fire Life Safety, Utility, Technology Upgrades
and Interior /Exterior improvements. Measure A projects were completed in 2007.
u ... ...
.. III - .. .. .--. .. .. -
R \ProjedswewpoTJm 51RTC1RTC -031512.doc
Net School
Available
Distance to the
School Name
Capacityo
Enrollment°
Capacity
Project Site (mi)
Whittier Elementary
99
799
7
2.4
Middle Schools
Ensign Middle
1,228
1,079
149
2.0
High School
Newport Harbor High
2,844
2,511
333
2.3
Subtotal Elementary Schools
Q 49A
3,212
(
N/A
Subtotal Middle Schools
1,228
1,079
149
N/A
Subtotal High School
2,844
2,511
333
N/A
Total Capacity
6,802
424
N/A
Note: The distances were taken from the crossing of West Coast Highway at Industrial Park Way in Newport Beach.
` Zareczny29192411.
° Zareczny 29442011(Ungraded elementary and secondary students are included into calculations).
Page 4.14 -8 has been revised and is incorporated into the Final EIR as follows:
In accordance with SB 50, the construction of new schools requires a school
district to match State funds. The local match is typically provided by such funds
as developer fees, local General Obligation bonds, and /or Mello -Roos CFD
( "Special Taxes" that can be levied on property owners of newly constructed
homes within a CFD).
obtained funding f8F expansion Of 88ROFa ElementaFy an Gesta Mesa in 0002 62
The second paragraph under the heading "Local Funding" on page 4.14 -8 has been revised and
is incorporated into the Final EIR as follows:
In November 2005, residents within the boundaries of the NMUSD passed a local
Measure F authorizing the sale of $282 million in General Obligation bonds. In a
resolution adopted by the School Board on June 13, 2006, the School District
approved the tax rate of $18.87 for every $100,000 of assessed values for the
repayment of the bonds. Measure F is the second successful General Obligation
bond in the School District. Measure A was passed by the NMUSD voters in
June 2000 and authorized the sale of $110 million in General Obligation bonds.
Measure A funds
Gampus thFe ,,.hAut the a,S+.,Pt and to o Rd SGhe9l GapaGity di6tFiGt woe were
used by the School District to modernize everyK -12 school campus throughout
the District for ADA compliance. Fire Life Safety, Utility, Technology Upgrades
and Interior /Exterior improvements. Measure A projects were completed in 2007.
u ... ...
.. III - .. .. .--. .. .. -
R \ProjedswewpoTJm 51RTC1RTC -031512.doc
Banning Ranch EIR
onses to Comments
Page 4.14 -12 has been revised and is incorporated into the Final EIR as follows:
Therefore, followina annexation of 361 acres of the Project site located in the
Newport Beach Sphere of Influence to the City, the entire Proiec can be
adequately served through the use of existing City of Newport Beach fire and
emergency medical services as well use of fire and emergency medical services
provided through the City's mutual aid agreement with adjacent jurisdictions, the
latter as needed. The plan for provision of fire protection and emeraencv medical
services to the Proiect site meets the criteria for approval of the annexation
Page 4.14 -16 has been revised and is incorporated into the Final EIR as follows:
The Police Department's operating budget is generated through tax revenues,
penalties and service fees, and allowed government assistance. Facilities,
personnel, and equipment expansion and acquisition are tied to the City budget
process and tax -base expansion. Tax -base expansion from development of the
proposed Project would generate funding for the police protection services.
Implementation of SCs 4.14 -4 and 4.14 -5 related to site security and building and
site safety design recommendations would ensure adequate police protection
services can be provided to the Project site following annexation of 361 acres of
City of Newport Beach can provide continuous and reliable police protection
services to the Proiect. Therefore, the Project's impact on police protection
services would be less than significant.
Page 4.14 -19 has been revised and is incorporated into the Final EIR as follows:
The State is also involved in deciding the structure of local schools. For example,
in August 1996, the State Senate passed SB 1777 (1996 -1997 Class Size
Reduction Program) and SB 1789 (Class Size Reduction Facilities Funding
Program). These programs together (1) provide incentive monies to local school
districts to lower class sizes for kindergarten through the third grades (K -3) to a
ratio of 20 students to 1 teacher and (2) provide funds for additional teaching
stations. However, the loading factor that the State uses to calculate school
building capacity is 25 students per elementary classroom (K -6) and 27 students
per middle and high school classroom (grades 7 -12) (OPSC 2008). The NMUSD
implements Class Size Reduction policies in grades K -3. For the purposes of
analyzing school impacts herein, NMUSD's Net Capacity is used. It is defined as
the total number of classrooms with 25 stud°°'° OR °°^h ^'a°°•° fti ° °°
63 Protected program classroom uses include special education, science labs, resource support programs, music,
libraries, and computer labs.
RTrojedsW ewparftMl &RTMRTGA31512.doc
Banning Ranch EIR
onses to Comments
Page 4.14 -26 has been revised and is incorporated into the Final EIR as follows:
The Library has also indicated that the Project would not create a need for new
or expanded library facilities. As a result, there would be no significant physical
impacts to library facilities resulting from the proposed Project following
annexation of 361 acres of the Project site located in the Newport Beach Sphere
of Influence to the City. As identified in SC 4.14 -1, the Applicant shall pay the
required Property Excise Tax to the City for public improvements and facilities
associated with the City of Newport Beach Public Library. The plan for provision
of police services to the Project Site meets the criteria for approval of the
annexation pursuant to Government Code Section 56668 as the City of Newport
Beach can provide continuous and reliable library services to the Project.
SECTION 4.15: UTILITIES
The first sentence in the second paragraph on page 4.15 -16 has been changed and is
incorporated into the Final EIR as follows:
As part of the regulat'OR management of groundwater supplies, the OCWD +s
RiYBF BasiR), recharges the Orange County Groundwater Basin which generally
involves recharge with Santa Ana River flows, recycled water, and imported
water to maintain groundwater levels.
The last sentence in the first full paragraph on page 4.15 -16 has been changed and is
incorporated into the Final EIR as follows:
The OCWD regulates manages the use of groundwater supplies through a
Groundwater Basin Management Plan. A Groundwater Management Plan 2009
Update was considered and adopted by the OCWD Board of Directors on July
15, 2009 (Mille F OCWD 2009).
The third sentence in the third paragraph on page 4.15 -16 has been changed and is
incorporated into the Final EIR as follows:
OCWD's 2009 9Ka# Groundwater Management Plan Update estimates
groundwater replenishment supplies of 61,000 afy (OCWD 2009).
Page 4.15 -26 has been revised and incorporated into the Final EIR as follows:
Capacity Assurance, Management, Operation, and Maintenance Program
In January 2001, the USEPA published a proposed rule intended to clarify and
expand permit requirements under the Clean Water Act to further protect public
health and the environment from impacts associated with sanitary sewer
overflows. The proposed rule is generally referred to as the "Capacity Assurance,
Management, Operation, and Maintenance Program Regulation ". The proposed
Program's regulation requires development and implementation of programs
intended to meet the performance standard of eliminating sanitary sewer
overflows; to provide overflow emergency response plans, system evaluations,
and capacity assurance plans; to conduct program audits; and to implement
public communication efforts. The proposed rule was not adopted. In 2002. the
RTrojedsW ewparftMl &RTMRTCA31512.doc
Banning Ranch EIR
onses to Comments
Regional Water Quality Control Board, Santa Ana Reoion, adopted Waste
Discharge Requirements for sewer system owners followed by the State of
California's adoption of statewide Waste Discharge Requirements.
Page 4.15 -27 has been updated and is incorporated into the Final EIR as follows:
In the vicinity of the Project site, the OCSD operates facilities in West Coast
Highway as well as the Bitter Point Pump Station and three force mains located
within the Project site, all of which flow to Wastewater Treatment Plant 2.... The
OCSD also provides up to 494G 104 mgd of treated wastewater to the OCWD
for further processing for landscape irrigation and injection into the groundwater
seawater intrusion barrier.
Page 4.15 -27 has been revised and incorporated into the Final EIR as follows:
In addition to these on -site facilities, sanitary sewer facilities exist in the Project
vicinity... The City of Newport Beach operates wastewater facilities adjacent to
the Project site on West Coast Highway, along 19th Street, and on Ticonderoga
Street.... The City of Costa Mesa Costa Mesa Sanitary District also has facilities
near the Project site.
Page 4.15 -29 has been revised and is incorporated into the Final EIR as follows:
Effluent from the development areas would be collected and directed to the
OCSD trunk sewer upstream of the Bitter Point Pump Station via 8 -, 10- and 12-
inch pipes. The majority of the proposed wastewater pipelines would be
constructed within the Project site and would occur within the identified
development footprint evaluated throughout this EIR. An off -site sonneetien
would be required an ewer stub is proposed near 16`h Street to provide future
service to the adjacent to —the Newport-Mesa Unified School District property.
However, the sennestien proposed sewer stub would occur within the proposed
off -site road and grading footprint evaluated throughout this EIR.
..2d 2Rd V. 'Jld ROt FPS-611t OR RifiGa lit 8RViFQRMPRtAI offpGts b eyelid
these Acle-IFessed as paFt of this C1° Therefore, no additional direct impacts
related to construction and operation of the on -site wastewater system would
occur.
SECTION 5.0: CUMULTIVE IMPACTS
Table 5 -2 on page 5 -18, the first two rows are modified and incorporated into the Final EIR.
Table 5 -3 has been revised and incorporated into the Final EIR.
Exhibit 5 -4 has been updated and incorporated into the Final EIR to reflect changes to the
location of several City of Huntington Beach cumulative projects.
RTrojedsW ewparftMl &RTMRTC -031512.doc
i
9
us.v.,r Hranos r
— .
� F
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Ms. PYie (aY f+mMf!
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rasT PrkkWYnP R*d
inierahaopdtaPepYYPen.ZOry Swft L "
a9MH0
emmlEipr oJw
Pacific
Ocean
I III
I
H3a'
Newport Banning Ranch EIR
Responses to Comments
1 I
r II L 1
,.
11'' I
a
e
LL z
•: TYL�orl Aw ``
I ILL `1
ry
1Y - _ 1-
•NeC i ,
7 _ , �r _
rT. IT
I-
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• HB? HanMI A>- 11-1,9t
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M tt: PrRWp Err..e Prep
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Hnt9 Orwn Pun am,wan �tj ftb"C M"
M a Hrmont caw as uxw +n Pn11Nt
H31S M RcVi Projee
H31H BY! irdVYTit Alkie.th4 Pyr•1
Huntington Reach Cumulative Projects Exhibit 5 -4
Mewpod Banrnrg Ranch EIR
+ 1 n.5 0 1
r n r�iri ieq
lalf �nmi
R:\ Projects \NewportU0151RTC\RTC- 031512tloc 4 -20 Clarifications and Revisions
Banning Ranch EIR
onses to Comments
TABLE 5 -2
Newland Street
The project would develop and
21471 Newland St; south of
Final EIR was certified in August
. GP Amendment
Residential
subdivide a former industrial site into a
residential development with 204
Lomond Dr; west of Newland
St, north of the terminus of
2006. The project hAg been
tea. is under construction.
. Zoning Map Amendment
. TTM
multi - family residential units and an
Hamilton Ave; 4 miles to the
Please note that this project is now
. CUP
commonly referred to as Pacific
approximate 2 -acre public park.
northwest.
. Final Tract Map
Shores.
Newland Street
The project would widen Newland St
Newland St from Pacific Coast
IS /MND approved in April 2007. The
. IS /MND approval
Widening
from Pacific Coast Hwy to Hamilton
Hwy to Hamilton Hwy; 2 miles
project ^ ' undp.,��- Annst^ • ^ "^ ^.has
. No other discretionary
Ave, widen the reinforced concrete
to the west.
been completed.
actions were identified
bridge at Huntington Channel, install
storm drain improvements in Newland
St, and raise the profile of Newland St
to improve traffic visibility. The
proposed widening would also
address stopping sight distance
deficiency by raising the road grade at
the Huntington Channel and providing
a left -turn lane at the intersection of
Newland St and Edison Way.
R:Tmje SWewpoOQOI5 \RT0RTC -031512.d=
Banning Ranch EIR
onses to Comments
TABLE 5 -3
CITY OF HUNTINGTON BEACH
Projects Where Construction Has Been Initiated or Completed
Brightwater Specific Plan and
LS
LS
LS
LS
LS
LS
LS
LS
LS
LS
N/A
LS
LS
LS
LS
Yes
Annexation
Huntington Beach Downtown
LS
S
S
S
S
S
LS
LS
U
U
U
U
U
U
S
Yes
Specific Plan Update
NIA
S
NYA
Newland Street Residential
S
U
S
U
LS
S
U
S
SU
U
N/A
S
S
U
S
Yes
Newland Street Widening
LS
LS
LS
LS
LS
S
LS
LS
�
LS
LS
LS
LS
LS
LS
Yes
Ocean View High School Expansion
LS
Nth
LS
LS
LS
LS
LS
�
NI
LS
N/A
LS
LS
t�
N/A
Yes
Ls
Pacific City
LS
S
S
S
S
S
S
S
U
N/A
S
S
S
S
Yes
Projects With Approved CEQA Documentation
Beach and Edinger Corridors
LS
S
S
S
S
S
LS
U
U
U
us
U
U
U
U
Yes
Specific Plan
UI
—
Edison Park Master Plan
LS
S
LS
LS
LS
S
LS
S
AS
LS
N/A
LS
LS
LS
LS
Yes
L
Goodell Property Pre - Zoning and
LS
LS
LS
LS
LS
S
LS
LS
LS
LS
LS
LS
S
LS
LS
Yes
Annexation
Pacific View Mixed -Use
LS
LS
LAS
S
S
LS
LS
LS
LS
LS
N/A
LS
LS
LS
LS
Yes
Parkside Estates
LS
S
S
S
S
S
N/A
N/A
S
S
N/A
S
LS
S
S
Yes
Poseidon Desalination Plant
LS
S
S
S
LS
S
N/A
N/A
S
U
N/A
S
S
S
S
Yes
The Ridge
LS
LS
LS
LS
LS
_a
LS
LS
LS
LS
N/A
LS
S
LS
LS
Yes
Projects Without Approved CEQA
Documentation
General Plan Circulation Element
U
LS
LS
LS
LS
U
U
LS
U
U
U
U
S
U
LS
Yes
Update
Harmony Cove Residential
S
LS
S
S
LS
S
LS
LS
LS
LS
LS
S
LS
LS
LS
Yes
Development
Beach and Warner Mixed -Use
LS
LS
LS
LS
LS
S
LS
LS
S
U
LS
S
LS
LS
LS
Yes
Project
R:Tmje SWewpo0Q015 \RT0RTC -031512.d=
Banning Ranch EIR
onses to Comments
Page 5 -74, the first paragraph under Cumulative Impact Analysis Fire Protection has been
changed and incorporated into the Final EIR as follows:
The City of Newport Beach Fire Department serves existing development
(inclusive of past and present projects) through the facilities and staff identified in
Section 4.14. The proposed Project assumes the provision of fire protection
services is based on a combination of existing and planned City of Newport
Beach fire services and the use of +dal automatic aid. The City participates in
Central Net, an automatic mutual aid system with the Cities of Costa Mesa,
Santa Ana, and Huntington Beach, and the Orange County Fire Authority
(OCFA). Together, these cities and the County provide personnel to any
emergency. As part of this m-Wal automatic aid agreement, the Biases a_n
emergency response unit is dispatched to the emergency, regardless of
jurisdictional boundary. As such, all projects in the Cities of Newport Beach,
Costa Mesa, and Huntington Beach would be assumed in the cumulative
analysis for fire protection services.
SECTION 9.0: REFERENCES
Newport Banning Ranch LLC. 2011a (August). Newport Bannina Ranch Master
Development Plan. Newport Beach. CA.
Personal communication. Telephone conversation between C6. Miller (OCWD)
and J. Marks (BonTerra Consulting) regarding the Groundwater Management
Plan 2009 Update.
RT rojedsWewpaRU0151RTMRTC -031512.doc 4 -23 Clarifications and Revisions
Banning Ranch EIR
onses to Comments
RAProjectsWewpoOM151RTORTC- 031512tloc 4 -24 Clarifications and Revisions