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Wagstaff and Associates Proposal for Services <br /> City of Redwood City Peninsula Park Project EIR Addendum Project <br /> September 28,2006 Page 1-8 <br /> creek, and Bay water quality. Remaining hydrology and water quality mitigation <br /> requirements for the currently proposed Peninsula Park project will then be identified. <br /> • Infrastructure and Public Services: The Addendum will describe the potential <br /> impacts of the Peninsula Park project on local municipal infrastructure and public service <br /> capacities and needs in comparison to the 2003 EIR project and 2003 EIR Alternative 6. <br /> The discussion will include comparative (reduced) municipal water demand impacts, <br /> sewage treatment and transmission capacity impacts, and project-related and <br /> cumulative impacts on police, fire protection, emergency medical, emergency access, <br /> parks, recreation and solid waste disposal services. <br /> • Other Impacts: In addition to the key environmental issues listed above, the Addendum <br /> will describe the potential impacts of the Peninsula Park project in comparison to the <br /> 2003 EIR project and 2003 EIR Alternative 6 related to soils and geology (grading, <br /> dredging, differential settlement, and liquefaction), public health and safety (San Carlos <br /> Airport traffic), noise (freeway and aviation noise, construction period noise and ground <br /> vibration), cultural resources (disturbance of as yet unrecorded subsurface cultural <br /> resources) and air quality (construction period and long-term emissions). <br /> 1.5 ENVIRONMENTAL DOCUMENTATION OPTIONS <br /> It appears at this preliminary point that preparation of an Addendum to the 2003 EIR will remain <br /> the selected CEQA approach for the current Peninsula Park application, given the list of <br /> environmental issues above and the low likelihood of new or substantial increases in impacts or <br /> associated new mitigation requirements. If, during the course of the CEQA review, one or more <br /> supplemental mitigation needs are identified to reduce an identified additional or more severe <br /> impact to a less than significant level, preparation of a Mitigated Negative Declaration (MND) <br /> rather than an EIR Addendum will be required. In the unlikely event that a new significant <br /> unavoidable incremental impact is identified, preparation of a limited-scope Supplement to the <br /> 2003 EIR (Supplemental EIR)will be required. <br /> C:IDocuments and SettingslkmateolLocal SettingslTemporary Internet FilesI0602 proposal section 1-rev.doc <br />