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Findings and Statements Required by the California Environmental Quality Act <br />Redwood City DTPP Plan-Wide Amendments 16 ESA / 202100421.01 <br />Subsequent Environmental Impact Report May 2023 <br />minimize the wastewater generated by the proposed DTPP Plan-Wide Amendments. Consequently, <br />the proposed DTPP Plan-Wide Amendments would not result in wastewater treatment capacity <br />issues and would not result in new or more severe impacts than impacts identified in the DTPP <br />Final EIR. Therefore, this impact would be less than significant. (Draft SEIR, pp. 10-36 to 10-37.) <br />Impact UT-4: Implementation of the DTPP Plan-Wide Amendments would not generate solid <br />waste in excess of State or local standards, or in excess of the capacity of local infrastructure, <br />or otherwise impair the attainment of solid waste reduction goals. <br />Project construction is not expected to generate substantial amounts of solid waste during <br />construction relative to the remaining capacity of the Ox Mountain Landfill. Projects developed <br />within the amended DTPP area would be required to comply with existing solid waste reduction <br />requirements, including applicable federal, State, and local solid waste statutes and regulations <br />during construction. Therefore, construction associated with the proposed DTPP Plan-Wide <br />Amendments would not generate solid waste in excess of local infrastructure and would not impair <br />the attainment of state-level or local waste reduction goals. During operation, the daily solid waste <br />estimates associated with the proposed DTPP Plan-Wide Amendments would account for less than <br />0.6 percent of the permitted daily capacity of the Ox Mountain Landfill, and as such the proposed <br />DTPP Plan-Wide Amendments would not generate substantial amounts of solid waste during <br />operation relative to the capacity of local infrastructure. Projects developed within the amended <br />DTPP area would be required to comply with existing solid waste reduction requirements, <br />including applicable federal, State, and local solid waste statutes and regulations during operation, <br />including the CALGreen building and State recycling and organic material diversion requirements. <br />Therefore, operation of development within the amended DTPP area would not generate solid <br />waste in excess of the local infrastructure, and would not impair the attainment of state -level or <br />local waste reduction goals. The proposed DTPP Plan-Wide Amendments would not result in new <br />or more severe impacts than the impacts identified in the DTPP Final EIR. Therefore, this impact <br />would be less than significant. (Draft SEIR, pp. 10-37 to 10-39.) <br />Impact UT-5: Implementation of the DTPP Plan-Wide Amendments would comply with <br />federal, state, and local management and reduction statutes and regulations related to solid <br />waste. <br />During construction and operation associated with development within the amended DTPP <br />area, development projects would be required to comply with federal, state, and local solid waste <br />standards, such as the California Integrated Waste Management Act, AB 939, the CALGreen Code, <br />AB 341 and AB 1826, SB 1383, and the City of Redwood City C&D Ordinance. As a result of <br />these requirements and oversight, development within the amended DTPP area would not conflict <br />with applicable waste reduction policies. Therefore, the proposed DTPP Plan-Wide Amendments <br />would not result in new or more severe impacts regarding compliance with solid waste regulations <br />than the impacts identified in the DTPP Final EIR. This impact would be less than significant. <br />(Draft SEIR, p.10-39.)