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As before, there are currently no Prime Farmland, Unique Farmland, or Farmland of Statewide Importance in the <br />DTPP area. The project component is located in a built-out urban environment and would not convert farmland to a <br />non-agricultural use. No impact would occur as a result of the proposed project component. For these reasons, the <br />1900 Broadway project component would be consistent with the analysis in the EIR/SEIR and would not create new <br />impacts, increase impacts, and there is no new information of substantial importance for CEQA purposes. <br />b. There are no agriculturally zoned land uses or Williamson Act contracts in the vicinity of the project component <br />(DTPP program EIR p. 18-4). The DTPP Plan-Wide Amendments program SEIR (p. 18-7) concurred with the DTPP <br />EIR conclusion. Because there are still no agriculturally zoned land uses or Williamson Act contracts in the vicinity, <br />the 1900 Broadway the project component would not conflict with any agricultural zoning use or a Williamson Act <br />contract. For these reasons, no impact would occur as a result of the proposed project component and it would be <br />consistent with the analysis in the EIR/SEIR. It would not create new impacts, or increase impacts, and there is no <br />new information of substantial importance for CEQA purposes. <br />c. and d. The EIR/SEIR noted that there is no forest land nor are there timberland resources in Redwood City. (DTPP <br />program EIR p. 18-4, SEIR p. 18-7.) The City’s “urban forest” is comprised of a street tree system, trees on parks and <br />other public lands, and trees on private properties and in yards throughout the city, particularly in older neighborhoods. <br />The DTPP area is fully urbanized, is not zoned for forest land or timberland, and does not contain any such lands. <br />There are no conflicts with existing zoning for forest land, timberland, or timberland production, nor is there cause <br />for rezoning of any such land, and no impact would occur as a result of the proposed project component. Because the <br />1900 Broadway project component would not have impacts on forest land or timberland resources, it would be <br />consistent with the analysis within the EIR/SEIR. It would not create new impacts, or increase impacts, and there is <br />no new information of substantial importance for CEQA purposes. <br />e. As noted above, the EIR/SEIR specified there are no agricultural, or forest land resources in the DTPP or vicinity and <br />there was no impact on these resources. Because there are no current or planned agricultural or forest land activities <br />in the vicinity of the project component, no impact would occur as a result of the proposed 1900 Broadway project <br />component. This is consistent with the analysis within the EIR/SEIR. It would not create new impacts, or increase <br />impacts, and there is no new information of substantial importance for CEQA purposes. <br /> CONCLUSION <br />With regards to the issue area of Agricultural / Forestry Resources, the following findings can be made: (1) no peculiar <br />impacts to the 1900 Broadway project component or its site have been identified, (2) there are no potentially significant <br />effects or off-site and/or cumulative impacts which were not discussed by the EIR/SEIR, (3) no substantial new <br />information has been identified which results in an impact which is more severe than anticipated by the EIR/SEIR, <br />and (4) no mitigation measures contained within the EIR/SEIR would be required because the project component <br />specific impacts would be less than significant. For these reasons, the agricultural / forestry resources impacts of the <br />proposed project component would be consistent with the impacts identified in the EIR/SEIR and this project <br />component does not require additional environmental review under CEQA Guidelines section 15183. <br /> <br />847 Woodside Road Component: <br />a. No agricultural uses are located in the Focused GPU planning area, and the area does not contain any Prime Farmland, <br />Unique Farmland, or Farmland of Statewide Importance; the Focused GPU planning area does not include any existing <br />agricultural land uses and includes mostly urban/suburban uses, except for designated park areas (Focused GPU <br />program EIR p. 4.2-1). The Focused GPU EIR therefore concluded that there would be no impact of development in <br />the Focused GPU planning area. <br />As before, there are no Prime Farmland, Unique Farmland, or Farmland of statewide Importance in the Focused GPU <br />planning area. The project component is located in a built-out urban environment and would not convert farmland to <br />a non-agricultural use. No impact would occur as a result of the proposed project component. For these reasons, the <br />847 Woodside project component would be consistent with the analysis in the Focused GPU EIR and would not create <br />new impacts, increase impacts, and there is no new information of substantial importance for CEQA purposes. <br />b. There are no agriculturally zoned land uses or Williamson Act contracts in the vicinity of the project component <br />(Focused GPU program EIR p. 4.2-1). Because there are still no agriculturally zoned land uses or Williamson Act <br />contracts in the vicinity, the 847 Woodside project component would not conflict with any agricultural zoning use or <br />a Williamson Act contract. For these reasons, no impact would occur as a result of the proposed project component <br />and it would be consistent with the analysis in the EIR/SEIR. It would not create new impacts, or increase impacts, <br />and there is no new information of substantial importance for CEQA purposes. <br />ATTY/RESO.0070/CC RESO 1900 BROADWAY (CEQA) - EXHIBIT 1 - CEQA CONSISTENCY CHECK LIST <br />REV: 10-23-24 VR <br /> <br />Page 29 of 135