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75D - PH - 2525 N MAIN
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11/14/2019 7:54:38 PM
Creation date
11/14/2019 5:55:43 PM
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City Clerk
Doc Type
Agenda Packet
Agency
Planning & Building
Item #
75D
Date
11/19/2019
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Construction activities would occur within the Project site and would not restrict access of emergency <br />vehicles to the Project site or adjacent areas. In addition, travel along surrounding roadways would remain <br />open and would not interfere with emergency access in the site vicinity. Moreover, the Project must <br />comply with Section 503 of the California Fire Code (Title 24, California Code of Regulations, Part 9) <br />and the City of Santa Ana Fire Code included as Municipal Code Chapter 14. As such, for the reasons <br />discussed herein and in the Initial Study, the Project would not impair implementation of or physically <br />interfere with an adopted emergency response plan or emergency evacuation plan, and impacts would be <br />less than significant. (Initial Study, p. 37.) This conclusion also applies, for the same reasons, to the <br />Modified Project. <br />9.8.7 Wildland Fires <br />Threshold: Would the Project expose people or structures to a significant risk of loss, injury, or <br />death involving wildland fires, including where wildlands are adjacent to urbanized areas or where <br />residences are intermixed with wildlands? <br />Finding: No impact. (DEIIZ, p. 2-6; Initial Study, p. 38.) <br />Facts in Support of Finding: The Project site is located within an urban developed area and is not located <br />within an identified wildland fire hazard area and is not an area where residences are intermixed with <br />wildlands. <br />For the reasons discussed above and the reasons discussed in the DEIR and Initial Study, impacts <br />associated with this issue would be less than significant, and no mitigation is required. (DEIR, p. 2-6; <br />Initial Study, p. 38.) This conclusion also applies, for the same reasons, to the Modified Project. <br />9.9 Hydrology and Water Quality <br />9.9.1 Water Quality Standards <br />Threshold: Would the Project violate any water quality standards or waste discharge <br />requirements? <br />Finding: Less than significant impact. (DEIR, p. 2-6; Initial Study, p. 40.) <br />Facts in Support of Finding: Section 18-156 of the City of Santa Ana Municipal Code states that all new <br />development and significant redevelopment within the City shall be undertaken in accordance with the <br />County Drainage Area Management Plan (DAMP). Accordingly, both construction and operational Best <br />Management Practices (BMPs) would be required to be implemented as part of permitting of the Project. <br />Adherence to a City -approved Storm Water Pollution Prevention Plan (SWPPP) and a Water Quality <br />Management Plan (WQMP) that includes Low Impact Development (LID) features, which would be <br />verified prior to the issuance of a demolition or grading permit, would ensure that potential water quality <br />degradation associated with construction and operational activities would be minimized to a level of less <br />than significance. <br />For the foregoing reasons and the reasons discussed in the DEIR and the Initial Study, impacts associated <br />with this issue would less than significant, and no mitigation is required. <br />(Initial Study, pp. 40-41.) This conclusion also applies, for the same reasons, to the Modified Project. <br />Resolution No. Page 38 of 76 <br />Certification of the Magnolia at the Park EIR <br />
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