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12/16/2019 <br />• The contractor shall alert heavy equipment operators to the close proximity of the adjacent structures so they <br />can exercise extra care. <br />The City finds that Mitigation Measures N0I-1.1 and NOI-2.1 are feasible, are adopted, and will further reduce impacts <br />associated with this issue to a level of less than significant. Accordingly, the City finds that, pursuant to Public <br />Resources Code section 21081(a)(1) and State CEQA Guidelines section 15091(a)(1), changes or alterations have been <br />required in, or incorporated into, the proposed project that mitigate or avoid the potentially significant impacts of the <br />proposed project related to this issue. <br />Impact NOI-C: The project would result in a cumulatively considerable contribution to a significant noise (i.e., <br />construction) impact. <br />Finding. The project, in conformance with General Plan Program PS -63 and with the implementation of the <br />mitigation measure MMN0I-1.1, would reduce its cumulatively considerable contribution to a significant cumulative <br />construction noise impact to a less than significant level. (Less than Significant Cumulative Impact with Mitigation <br />Incorporated) Changes or alterations have been required in, or incorporated into, the Project, which avoid or <br />substantially lessen the significant environmental effects as identified in the EIR. (State CEQA Guidelines, section <br />15091(a) (1).) <br />Facts in Support of Finding. The Westside Renovation/Magical Bridge Playground at Red Morton Park project, <br />which is currently under construction, is scheduled to be completed in December 2019. The proposed project is <br />expected to start construction in January 2020. While the construction from the two projects would not be concurrent, <br />the surrounding residences would be exposed to continual construction due to the two projects, which would extend <br />disruption due to construction noise. However, the project, in conformance with General Plan Program PS -63 and <br />with tire implementation of mitigation measure MM N0I-1.1 above, would reduce its cumulatively considerable <br />contribution to a significant cumulative construction noise impact to a less than significant level by restricting <br />construction hours, controlling noise from construction activities and equipment, notifying and coordinating with <br />nearby residences, and designating a disturbance coordinator to address noise complaints. In addition, the project <br />does not propose the use of high-intensity construction equipment, such as pile drivers. Other cumulative projects may <br />be under construction concurrently with the proposed project, but are within 1, 000 feet of the project site. Therefore, <br />this construction would not measurably contribute to the noise levels expected from project -generated construction. <br />The facts to support this finding are further identified and described on pages 124 through 125 of the Draft EIR. <br />See MM N0I-1.1 above <br />The City finds that Mitigation Measure N0I-1.1 is feasible, is adopted, and will further reduce impacts associated with <br />this issue to a level of less than significant. Accordingly, the City finds that, pursuant to Public Resources Code section <br />21081(a)(1) and State CEQA Guidelines section 15091(a)(1), changes or alterations have been required in, or <br />incorporated into, the proposed project that mitigate or avoid the potentially significant impacts of the proposed project <br />related to this issue. <br />Transportation/Traffic <br />ATTY/RE50.0124/CC RE50 RECOMMENDING CEQA CERTIFICATION —YMCA <br />REV: 12-12-19 IY <br />Page 14 of 44 <br />RE50. NO. 15813 <br />MUFF NO. 601 <br />