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b. Air Quality (Construction Emissions) — Mitigation <br />Measure #2: Implementation of the following BAAQMD Basic Measures as <br />part of each project will minimize PM10 emissions and will reduce <br />construction -related air quality impacts to a less than significant level. <br />[COA][PLANNING] <br />i. Water all active construction areas at least twice daily. <br />ii. Cover all trucks hauling soil, sand and other loose materials or <br />require all trucks to maintain at least two feet of freeboard. <br />iii. Pave, apply water three times daily, or apply (non-toxic) soil <br />stabilizers on all unpaved access roads, parking areas, and <br />staging areas at construction sites. <br />iv. Sweep daily (with water sweepers) all paved access roads, <br />parking areas and staging areas at construction sites. <br />V. Sweep streets daily if visible soil material is carried onto adjacent <br />public streets. <br />Vi. If parcels are assembled to create a building site of greater than <br />four acres, the City would require that the Enhanced Measures <br />be implemented during construction. <br />c. Biological Resources (Redwood Creek Bank <br />Modification) — Mitigation Measure #3: Prior to any modifications to the <br />Redwood Creek channel and adjacent northern coastal salt marsh habitat, <br />project developers shall consult with the USFWS and CDFG regarding <br />proposed modifications and construction activities to determine if they could <br />result in "take" of a Federal or State protected species. The USFWS may <br />presume presence or may recommend additional focused surveys to <br />determine if any of these species are present on site. Project design <br />modifications, as well as appropriate mitigation measures determined by the <br />regulatory agencies, may also be required. Typical mitigation could include <br />enhancement of on-site habitat conditions or enhancement/preservation of <br />other existing habitat elsewhere in the watershed. [COA][PLANNING] <br />Cl. Biological Resources (Wetland Delineation) — Mitigation <br />Measure #4: If impacts to Redwood Creek are anticipated, a wetland <br />delineation shall be performed to determine precise jurisdiction by regulating <br />agencies (e.g., USACE, CDFG, etc.). Impacts could include the temporary <br />or permanent placement of fill into regulated waters or wetlands, diversion or <br />obstruction of flow, pollutant discharge, and the alteration or use of any <br />material from the bed, channel, or bank. The results of the wetland <br />delineation shall be incorporated into regulatory permit applications that may <br />be required if wetland fill is proposed. [COA][PLANNING] <br />e. Biological Resources (Stormwater Pollution and <br />Management) —Mitigation Measure #5: All projects developed under the <br />Precise Plan shall comply with the Redwood City Stormwater Management <br />& Discharge Control Program, including maintenance of setbacks from <br />Redwood Creek, erosion control methods, and measures for the avoidance <br />of stormwater pollution. The Redwood City Engineer is responsible for <br />ATTY/RESO.0017/PC RESO ADOPTING THE PLANNED COMMUNITY PERMIT & DENSITY BONUS -353 MAIN ST. <br />REV: 03-01-18 PR <br />Page 21 of 25 <br />