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with Downtown Precise Plan Historic Resource Preservation Regulations. If the <br /> report concludes that the proposed project would not meet the Secretary of the <br /> Interior's Standards , the report shall discuss in detail alternatives to the proposed <br /> project which would reduce significant impacts on historic resources. <br /> (3) Geotechnical report. <br /> (4) Phase I and , if warranted by Phase I , a Phase II environmental site <br /> assessment (ESA). <br /> (5) Description of any hazardous materials that may be used or stored on-site (if <br /> more than typical office or household supplies). <br /> (6) Asbestos , PCB , and lead-based paint survey (for demolition ). <br /> (7) Storm water treatment plan per City requirements (including C . 3 worksheet). <br /> (8) Noise assessment (generation and exposure). <br /> (9) Traffic impact study (TIA) with Existing, Existing Plus Project, Background No <br /> Project, Background Plus Project, Cumulative No Project, and Cumulative Plus <br /> Project scenarios. <br /> (10) Estimates of water demand and wastewater generation per City Engineering <br /> requirements (plus will-serve letters). <br /> In addition to the technical studies that shall be provided by the project applicant, <br /> City will provide to Consultant written comments from the City's Plan Review <br /> Committee (PRC), as well as the Architectural Advisory Committee (MC) and <br /> Historical Resources Advisory Committee (HRAC) as required by the Downtown <br /> Precise Plan , respectively, which shall serve as components of the substantial <br /> evidence necessary to tier off of the certified Downtown Precise Plan Environmental <br /> Impact Report. <br /> Project-Specific Technical Analyses Prepared by Consultant: Consultant will <br /> prepare the following technical analyses and incorporate the work into the <br /> Administrative Draft Supplemental EIR: <br /> (a) Air quality, toxic air contaminants (TACs), and greenhouse gas (GHG) <br /> emissions/climate change evaluation per Bay Area Air Quality Management District <br /> (BAAQMD) CEQA Guidelines. Based on recent CEQA case law, the evaluation will <br /> also address projected energy consumption (including from vehicle travel) and the <br /> resulting emissions, based on CEQA Guidelines Appendix F (Energy Conservation ). <br /> Air Quality and Toxic Air Contaminants (TACs). The air quality analysis will describe <br /> the existing local and regional air quality conditions in the project vicinity; the federal , <br /> state, and BAAQMD regulations applicable to the project; and the Redwood City <br /> REV: 07-13-16 RL <br /> Page 15 of 17 <br /> ATTY/AGR.2016. 184/Moore, lacofano, Goltsman Inc. <br />