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2019-107 - Proposed Addington Multi-Family Residential Project
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2019-107 - Proposed Addington Multi-Family Residential Project
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Last modified
5/19/2020 11:44:22 AM
Creation date
11/25/2019 11:00:29 AM
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City Clerk
Doc Type
Resolution
Doc #
2019-107
Date
11/19/2019
Destruction Year
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mitigation would reduce impacts to a less than significant level and the Modified Project would constitute <br />growth that is consistent with the AQMP. In addition, because the Modified Project is 48 percent smaller <br />than the Original Project, it would result in fewer stationary source and vehicular related emissions. Based <br />on the foregoing, none of the conditions identified in CEQA Guidelines Section 15088.5 that would trigger <br />the need to prepare a recirculated FIR or other environmental document exist. The Modified Project would <br />not result in either a new significant environmental impact or a substantial increase in the severity of a <br />previously identified impact. (Final EIR, Clarifications to the Final FIR, Section 3.2.) <br />8.2 Biological Resources <br />8.2.1 Movement of Fish or Wildlife <br />Threshold: Would the Project interfere substantially with the movement of any native resident or <br />migratory fish or wildlife species or with established native resident or migratory wildlife corridors, or <br />impede the use of native wildlife nursery sites? <br />Finding: Less than significant impact with mitigation incorporated. (DEIR, pp. 4.3-3 through 4.3-4.) <br />Facts in Support of Findings: Section 4.3, Biological Resources, of the DEIR identified that the Project <br />could impede the use of native wildlife nursery sites. The 180 mature ornamental trees on the Project site <br />provide potentially suitable foraging and breeding habitat for nesting migratory birds and raptor species <br />associated with urban areas such as red-tailed hawk, red -shouldered hawk, and Cooper's hawk. The <br />Project includes removal of many of the existing trees on the Project site that could disrupt nesting birds <br />and raptors if vegetation is removed or construction begins during the nesting season (February 1 to <br />August 31). Disruption of migratory nesting birds and raptors is prohibited by the Migratory Bird Treaty <br />Act (MBTA) and California Fish and Game Code. Therefore, Mitigation Measure BIO-1 is included to <br />require a nesting bird survey to be conducted by a qualified biologist within 3 days prior any disturbance <br />of the site during nesting season, including: vegetation removal, disking, demolition activities, and <br />grading. With implementation of Mitigation Measure BIO-1, potential impacts related to nesting birds and <br />raptors would be reduced to a less than significant level. <br />Mitigation Measure BI0-1: Construction plans and specifications shall state that vegetation clearing <br />during nesting season (February 1 through September 15) shall be avoided, if feasible. If avoidance of the <br />nesting season is not feasible, then a qualified biologist shall be required to conduct a nesting bird survey <br />within 3 days prior any disturbance of the site, including disking, demolition activities, and grading. If <br />active nests are identified, the biologist shall establish suitable buffers around nests at an appropriate <br />distance that is a minimum of 250 feet for raptors and 100 feet for non -raptors. The buffer areas shall be <br />avoided until the nests are no longer occupied, and the juvenile birds can survive independently from the <br />nests. <br />With the implementation of the mitigation measure identified above (MM-BIO-1), the Project's impact <br />on Biological Resources would be less than significant. (DEIR, pp. 4.3-3 through 4.3-4.) <br />Consistent with the determinations of the EIR, the Modified Project would avoid potential impacts through <br />implementation of Mitigation Measure BIO-1 and compliance with the City's Municipal Code. Based on <br />the foregoing, none of the conditions identified in CEQA Guidelines Section 15088.5 that would trigger <br />the need to prepare a recirculated FIR or other environmental document exist. Because the Modified <br />Project increases the distance of the building footprint from nesting sites in the existing trees and <br />Resolution No. Page 15 of 76 <br />Certification of the Magnolia at the Park EIR <br />
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