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Reso24 16252
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Reso24 16252
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10/29/2024 3:03:46 PM
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10/29/2024 2:59:32 PM
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CC Index - Document Type
Resolution
Date
10/28/2024
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<br />125 <br />project component proposes to connect the project component site to an already funded recycled water main in Walnut <br />Street via four new connections; though, the project component may temporarily connect to the existing domestic <br />water main until the recycled water main is constructed (Utility Report, p. 5). Of the four new connections, there <br />would be one each for commercial dual plumbing and commercial office irrigation. The Utility Report concludes 80 <br />percent of the domestic water demand for the proposed commercial/office space can be converted to recycled water <br />demand. Landscape irrigation would conform to all City regulations and the California Water-Efficient Landscape <br />Ordinance, which means in part that all plantings would be irrigated with a drip or other point-source irrigation system <br />and a bubbler irrigation system would be used for trees. All project component utility calculations and designs are <br />subject to review and approval by the City. <br /> The DTPP program EIR (pp. 10-9 and 10-10) concluded that impacts resulting from DTPP-facilitated development <br />on the water distribution system and on fire flow would be less than significant (see item XV, Public Services, of this <br />checklist regarding fire flow requirements. The DTPP Plan-Wide Amendments program SEIR (p. 10-35) concluded <br />that impacts would be less than significant with implementation of Mitigation Measure UT-2. <br /> As a result of DTPP standards and the City requirements described above, the proposed project component would not <br />generate new or more severe water supply impacts beyond those analyzed in the DTPP program EIR and the DTPP <br />Plan-Wide Amendments program SEIR, and there is no new information of substantial importance for CEQA <br />purposes. <br />c. The DTPP program EIR (pp. 10-15 and 10-16) concluded that the South Bayside System Authority (SBSA)19 <br />wastewater treatment plant would not be significantly impacted by development allowed under the DTPP, which <br />includes the proposed project component. The DTPP Plan-Wide Amendments program SEIR (pp. 10-36 through 10- <br />37) concurred with the DTPP EIR conclusion. Based on City engineering factors used to calculate projected <br />wastewater generation (95 percent of water demand – see [b] above, and Attachment L in the Utility Report, September <br />2023), the net wastewater generation for the 1900 Broadway project component is forecast at 41,862 gpd. <br /> There are existing sanitary sewer facilities in Main Street and Walnut Street. There is an existing 12” sanitary sewer <br />main along Main Street flowing north toward a manhole connection near the intersection of Marshall Street and Main <br />Street, a 48” main flowing north on Walnut Street, and another 8” sanitary sewer line flowing south on Walnut Street. <br />The project component site currently ties into the existing 8” sanitary sewer main in Walnut Street (Utility Report, p. <br />3). To mitigate the anticipated net increase of sewer generation to the existing downstream manhole resulting from <br />the project component, the project component will construct a sewer main replacement project, construct a portion of <br />a sewer main project, or pay an in-lieu fee pending further analysis of the Gatekeeper Projects. All project component- <br />related wastewater system improvements are subject to City review and approval. As a result of DTPP standards and <br />the City requirements described above, the proposed project component would not generate new or more severe <br />wastewater impacts beyond those analyzed in the DTPP program EIR and the DTPP Plan-Wide Amendments program <br />SEIR, and there is no new information of substantial importance for CEQA purposes. <br />d. Project component construction would comply with all applicable solid waste regulations. Furthermore, there is <br />sufficient landfill capacity to accommodate the project component’s solid waste disposal needs (DTPP program EIR <br />p. 8-21; DTPP Plan-Wide Amendments program SEIR pp. 10-37 and 10-39). The project component would <br />accommodate refuse and recycling in two enclosed trash rooms, one of which would be located in the northern portion <br />of the building and accessible to waste service trucks at street level via a trash staging area on Marshall Street and the <br />second of which would also be located on the first floor of the building, but would only be accessible internally within <br />the building (Plan Set, Sheet A14, 11/9/2023). In total, the 1900 Broadway component is anticipated to generate an <br />estimated 2,493.6 pounds of solid waste per day (Plan Set, Sheet A14, 11/9/2023). Weekly pick-up of garbage, <br />compost, and recycling would be provided by the City’s selected local waste service provider (Recology of San Mateo <br />County). As a result of DTPP standards and the City requirements described above, the proposed project component <br />would not generate new or more severe solid waste impacts beyond those analyzed in the DTPP program EIR and the <br />DTPP Plan-Wide Amendments program SEIR, and there is no new information of substantial importance for CEQA <br />purposes. <br />e. See item (d) above. <br />CONCLUSION: <br />With regards to the issue area of Utilities and Services Systems, 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 /> <br /> 19As noted in the Focused GPU EIR, what was formerly known as the South Bayside System Authority is now called <br />“Silicon Valley Clean Water.” <br />ATTY/RESO.0074/CC RESO 847 WOODSIDE (CEQA) - EXHIBIT 1 - CEQA CONSISTENCY CHECKLIST <br />REV: 10-23-24 VR <br /> <br />Page 125 of 135
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