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AgdaPkt 2002-11-04
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AgdaPkt 2002-11-04
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Last modified
7/5/2005 2:54:32 PM
Creation date
10/31/2002 3:11:22 PM
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Template:
CC Index
CC Index - Document Type
Agenda Packet
Agency Type
City Council
Date
11/4/2002
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If the conclusion is that water supplies are or will be insufficient, then the WSA is to descdbe <br /> plans (if any) for acquiring additional water supplies, and the measures that are being <br /> undertakento acquire and develop those supplies. <br /> <br /> SB 221 is similar in many respects to SB 610. However, it applies only to residential projects of <br /> 500 units or more and requires the land use plannin~ agenc.~ to include as a condition of <br /> approval of a tentative map, parcel map or development agreement a requirement that <br /> "sufficient water supply" be available. Proof of a sufficient water supply must be based on a <br /> written verification from the public water system that will serve the development. <br /> <br /> Thus, the WSA required by SB 610 is to be prepared sufficiently early in the development <br /> review process that it can be incorporated in the CEQA evaluation and documentation of the <br /> project. In the case of a project which will require an Environmental Impact Report (EIR), the <br /> WSA should be available before the Draft EIR is released for public comment. SB 221, by <br /> contrast, becomes operative at the point that the city is considering approval of a tentative <br /> subdivision map. <br /> <br /> The City's Roles and Responslbilittas Under SB 610 <br /> Both SB 610 and SB 221 are drafted on the assumption that the land use planning agency (i.e., <br /> the city or county) is not the water supplier for the proposed project. They thus impose distinct <br /> duties on the city/county and on the water supplier - which is assumed to be an entirely <br /> separate agency. <br /> <br /> In the case of Redwood City, of course, this assumption is incorrect since the City performs <br /> both roles. However, the statute's terminology, while awkward, can be adapted to our situation <br /> relatively easily. <br /> <br /> The "City," as that term is used in the statute, means the components of city government that <br /> have responsibilities for the land use decision process. At the staff level, this is the Community <br /> Development Services Department, Planning and Redevelopment Division. <br /> <br />The "water supplier," for SB 610 purposes, can be understood to mean the Public Works <br />Services Department, which is responsible for the City's Water Enterprise Fund. <br /> <br />The "governing body," as used in SB 610, refers to the City Council, which is required to <br />approve the WSA at a regular or special meeting. <br /> <br />Use of the WSA <br />The WSA, including the information regarding plans for acquiring additional supplies, shall be <br />included in the environmental document prepared for the project. In the case of the Kaiser <br />Hospital Campus Expansion, it will be included in the Draft EIR, currently in preparation. <br /> <br />At the stage of project approval/disapproval, the City "shall determine based on the entire <br />record, whether projected water supplies will be sufficient to satisfy the demands of the project, <br />in addition to existing and planned future uses." If the City determines at that point that water <br />supplies will not be sufficient, it must include that determination in its findings for the project. <br /> <br />Urban Water Management Plan (UWMP) <br />The City of Redwood City has adopted an Urban Water Management Plan (UWMP) pursuant to <br />the State of California 1984 Urban Water Management Planning Act. The UWMP was last <br />amended via Resolution No. 14459 of the City Council on July 15, 2002, and duly forwarded to <br />the State of California Department of Water Resources. <br /> <br /> Page 3 of 9 <br /> <br /> <br />
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