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Agmt11 Jones and Stokes Associates, Inc.-ICF Consulting Group, Inc.
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Agmt11 Jones and Stokes Associates, Inc.-ICF Consulting Group, Inc.
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Last modified
4/20/2016 2:25:26 PM
Creation date
6/7/2011 2:40:08 PM
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Agreement
Contractor Name
Jones and Stokes Associates, Inc. a wholly owned subsidiary of ICF Consulting Group, Inc.
PROJECT NAME
Envronmental Consultant for 640 Veterans Blvd - Initial Study Mitigated Negative Declaration for CEQA
RMP File Number
304
Date
6/7/2011
MO Ref
12-013, 12-070
Amendment
Yes
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EXHIBIT "A" <br /> SCOPE OF SERVICES AND FEE <br /> Task 5— Review Comments on IS and Prepare Final MND and MMRP <br /> ICF will review the comment letter submitted by Adams, Broadwell Joseph and Cordozo; develop <br /> responses to each comment based on review and input by appropriate technical specialists; and prepare <br /> a separate memo with brief responses to the comments for the City's use. A preliminary review of the <br /> comment letters found comments pertaining to aesthetics, air quality, greenhouse gas emissions, <br /> hazardous materials, geology and soils, noise, traffic, and utilities and service systems. Some of these <br /> comments will likely require clarifications or revisions to the MND; and as determined necessary through <br /> the process of reviewing and responding to the comments, we will prepare an Errata section of a Final <br /> MND. The Final MND will also include any staff-initiated changes to the Draft MND. All changes will be <br /> made in underline and strikeout. <br /> ICF staff will also retain the services of Illingworth & Rodkin to address commenis related to Air Quality <br /> and Greenhouse Gases. Our technical staff will also coordinate with Hexagon to respond to traffic and <br /> transportation-related issues and with Baseline Environmental to respond to hazardous materials issues. <br /> Deliverables <br /> Clarifications and revisions to the MND, as determined necessary through the process of responding to <br /> the comments, will be included in the Errata section of a Final MND. <br /> A separate memo will be prepared with brief responses to the comments in the letter from Adams, <br /> Broadwell, Joseph and Cordozo. <br /> Assumptions <br /> The impact determinations and mitigation presented in the IS/MND will not need to be revised. In the <br /> event that ICF, a subconsultant to ICF, or a consultant working on behalf of the City or the Applicant <br /> determine that a change triggering recirculation of the MND, pursuant to CEQA Guidelines Section <br /> 15073.5, or that a significant and unavoidable impact would occur, this scope and cost will be re- <br /> evaluated. <br /> No more than 8 hours of Illingworth & Rodkin staff time will be required to assist with responses to <br /> comments and clarifications on the Draft MND. <br /> Hexagon will assist with responses related to comments on the transportation analysis and will provide <br /> clarifications on the Draft MND if necessary. <br /> The City will retain the services of Baseline Environmental to review the existing Phase I and Phase II <br /> reports. Baseline will provide responses to comments relating to Hazardous Materials and Geology and <br /> Soils as well as clarifications on the Draft MND if necessary. <br />
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