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Reso24 16254
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Reso24 16254
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Last modified
10/29/2024 2:33:22 PM
Creation date
10/29/2024 2:29:31 PM
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CC Index
CC Index - Document Type
Resolution
Meeting Type
Regular
Date
10/28/2024
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b. The Downtown Precise Plan program EIR (pp. 7-33 through 7-35) concluded that there is a high potential for new <br />development facilitated by the DTPP to disturb unrecorded archaeological resources, which represented a potentially <br />significant impact. Mitigation Measure 7-1 of the Downtown Precise Plan program EIR requires that in the event that <br />any deposits of prehistoric or historic archaeological materials are encountered during project construction activities, <br />all work within an appropriate buffer area shall be stopped and a qualified archaeologist meeting Federal criteria under <br />36 CFR 61 shall be contacted to assess the deposit and make recommendations, possibly including complete avoidance <br />of the resources, in-place preservation, and/or data recovery. The impacts were found to be less than significant with <br />mitigation. <br /> The DTPP Plan-Wide Amendments program SEIR (pp. 7-21 through 7-23) concurred with the DTPP EIR conclusion <br />and includes Mitigation Measure CR-3, which restates Mitigation Measure 7-1 from the DTPP Final EIR with minor <br />text revisions (“clarifying amendments”). In addition, the DTPP Plan-Wide Amendments program SEIR adds the <br />following requirement (p. 7-21): “The CRMP [Cultural Resources Management Plan] also requires that a cultural <br />resources plan be prepared as a standard condition of project approval for all development projects in the amended <br />DTPP area.” <br /> The proposed project component would not cause a potentially significant impact to any known (recorded) <br />archaeological resources in the project vicinity. Although no resources have been identified, the potential exists for <br />subsurface deposits, so a cultural resource plan will be prepared and Mitigation Measure CR-3, and the CRMP <br />requirement, will be required as conditions of project approval. This would reduce the potential impacts of the project <br />on archaeological resources to a less-than-significant level. This project component is consistent with the analysis in <br />the EIR/SEIR because it would not create new impacts or increase impacts and there is no new information of <br />substantial importance for CEQA purposes. <br /> c. A records search confirmed that there are not any known cemeteries or human remains in the DTPP area (DTPP EIR <br />p. 7-7). The DTPP Plan-Wide Amendments program SEIR (p. 7-23) concurred with the DTPP EIR conclusion and <br />found the impacts to be less than significant because of the requirements of PRC Section 5097.98 and Health and <br />Safety Code Section 7050.5 are sufficient to reduce this impact. <br /> The circumstances within the DTPP have not changed, so the proposed project component would not cause a <br />potentially significant impact as there are not any known cemeteries or human remains in the project vicinity. <br />However, should any human remains be found during on- or offsite improvements associated with the proposed <br />project, PRC Section 5097.98 and Health and Safety Code Section 7050.5 as well as the City of Redwood City Cultural <br />Resources Management Plan guidelines and DTPP Plan-Wide Amendments program SEIR Mitigation Measure CR- <br />3 (as discussed in item [a] above) require that construction activities be halted immediately and the County coroner <br />and a professional archaeologist be consulted to evaluate the significance of the find. If the remains are Native <br />American, the Native American Heritage Commission is required to be notified. These measures, which shall be <br />required as conditions of project approval, would reduce the potential impacts of the project on human remains to a <br />less-than-significant level. This project component is consistent with the analysis in the EIR/SEIR because it would <br />not create new impacts or increase impacts and there is no new information of substantial importance for CEQA <br />purposes. <br /> CONCLUSION <br />With regards to the issue area of Cultural Resources, the following findings can be made: (1) no peculiar impacts to <br />the 1900 Broadway project component or its site have been identified, (2) there are no potentially significant effects <br />or off-site and/or cumulative impacts which were not discussed by the EIR/SEIR, (3) no substantial new information <br />has been identified which results in an impact which is more severe than anticipated by the EIR/SEIR, and (4) feasible <br />mitigation measures contained within the EIR/SEIR would be applied to the project component and render its specific <br />impacts would be less than significant. For these reasons, the cultural resources impacts of the proposed project <br />component would be consistent with the impacts identified in the EIR/SEIR and this project component does not <br />require additional environmental review under CEQA Guidelines section 15183. <br /> <br />847 Woodside Road Component: <br />a. According to the Focused GPU program EIR (p. 4.5-3), there are many buildings in the City that are over 50 years of <br />age and many properties considered to be historically significant. However, with implementation of the General Plan <br />policies and compliance with the applicable regulatory framework, the potential impacts to historic resources were <br />found to be less than significant. <br />The City has established five historic districts throughout the city. The project component site is not in or adjacent to <br />any of these districts. In addition, a records search conducted for the applicant (Eden Housing) by the Northwest <br />ATTY/RESO.0070/CC RESO 1900 BROADWAY (CEQA) - EXHIBIT 1 - CEQA CONSISTENCY CHECK LIST <br />REV: 10-23-24 VR <br /> <br />Page 51 of 135
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