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CORRESPONDENCE - 60A
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CORRESPONDENCE - 60A
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City Clerk
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Agenda Packet
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11/19/2019
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19 <br /> <br />mainline breaks, and eliminating over-watering <br />and flooding due to pipe and/or head breaks. <br />also fails to address the consideration of flow- <br />sensing capabilities, slope failure due to mainline <br />breaks, and over-watering and flooding due to pipe <br />and/or head breaks. <br />MM 4.13-21 <br />Consideration of installation of solar roofs on <br />homes and businesses to offset the increasing <br />demand for energy and natural gas. <br />Here, the Addendum states that “[t]he proposed <br />project would include provisions for PV solar panel <br />on roofs” (p. 3.5-4, Table 3.5-2). However, the <br />Addendum fails to elaborate on what these <br />provisions entail, the feasibility of solar roofs, or <br />any information on offsetting the increasing <br />demand for energy and natural gas. The Addendum <br />should include information on Project-specific <br />considerations regarding solar roofs, otherwise we <br />cannot verify that solar roofs were considered. As <br />such, the Addendum fails to comply with this <br />aspect of the 2010 FEIR. <br />MM 4.13-22 <br />Project applicants shall, where feasible, <br />incorporate passive solar design features into the <br />buildings, which may include roof overhangs or <br />canopies that block summer shade, but that allow <br />winter sun, from penetrating south facing <br />windows. <br />Here, the Addendum fails to address passive solar <br />design, including roof overhangs or canopies that <br />block summer shade, but allow for winter sun, from <br />penetrating south facing windows. As such, the <br />Addendum fails to comply with this aspect of the <br />2010 FEIR. <br />MM 4.13-23 <br />Use Energy Efficient Roofing Materials. All roofing <br />materials used in commercial/retail buildings at <br />the Mixed-Use Retail Development shall be Energy <br />Star® certified. All roof products shall also be <br />certified to meet American Society for Testing and <br />Materials (ASTM) high emissivity requirements. <br />Here, the Addendum fails to address energy <br />efficient roofing materials, Energy Star roofing <br />materials, or American Society for Testing and <br />Materials (ASTM) high emissivity requirements. As <br />such, the Addendum fails to comply with this <br />aspect of the 2010 FEIR. <br />(2) The Santa Ana County CAP is Not Applicable to the Project <br />As previously mentioned, the Project relies upon consistency with the City of Santa Ana’s CAP to <br />determine Project significance. However, review of the plan demonstrates that the City of Santa Ana <br />CAP should be 2020. The CAP states, <br />“It is anticipated that new policy and technology options for reducing emissions may become <br />available before 2035; the CAP will need to be updated and additional measures may need to be <br />added to meet the 2035 goal” (p. 26).
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