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60A - BACERRAS REQUEST
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60A - BACERRAS REQUEST
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Last modified
9/10/2020 5:31:51 PM
Creation date
9/10/2020 5:29:44 PM
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City Clerk
Doc Type
Agenda Packet
Agency
Planning & Building
Item #
60A
Date
9/15/2020
Destruction Year
2025
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A. CalTrans Division of Aeronautics — Caltrans publishes the <br />California Airport Land Use Planning Handbook ("Handbook") in <br />accordance with State Law with the purpose to, " provide <br />information to ALUCs, their staffs, airport proprietors, cities, <br />counties, consultants, and the public; to identify the requirements <br />and procedures for preparing effective compatibility planning <br />documents; and define exemptions where applicable (Caltrans, <br />2011)." The Handbook provides specific guidance for assessing <br />potential airspace obstructions in Section 4.5 Airspace Protection. <br />xii. JWA — The FAA requires airport sponsors like Orange County to <br />accept specific grant assurances when they accept federal <br />funding. Hazard Removal and Mitigation and Compatible Land <br />Use are two of these assurances (49 U.S.C. § 47107(a)(9) and <br />(10)). For hazard removal, the Airport relies on the FAA's <br />aeronautical study to meet its requirement. For compatible land <br />use, the Airport relies on coordination with the surrounding cities <br />and the ALUC. The following are the specific assurances: <br />xiii. Hazard Removal and Mitigation. It will take appropriate action to <br />assure that such terminal airspace as is required to protect <br />instrument and visual operations to the airport (including <br />established minimum flight altitudes) will be adequately cleared <br />and protected by removing, lowering, relocating, marking, or <br />lighting or otherwise mitigating existing airport hazards and by <br />preventing the establishment or creation of future airport hazards. <br />xiv. Compatible Land Use. It will take appropriate action, to the extent <br />reasonable, including the adoption of zoning laws, to restrict the <br />use of land adjacent to or in the immediate vicinity of the airport to <br />activities and purposes compatible with normal airport operations, <br />including landing and takeoff of aircraft. In addition, if the project is <br />for noise compatibility program implementation, it will not cause or <br />permit any change in land use, within its jurisdiction, that will <br />reduce its compatibility, with respect to the airport, of the noise <br />compatibility program measures upon which Federal funds have <br />been expended. <br />e. Height. The residential and commercial land uses under the proposed <br />project are consistent with the height standards of the AELUP. <br />i. The proposed buildings associated with the Project would not <br />exceed the sloping, three-dimensional 100:1 (one percent sloping <br />surface from the nearest runway over 3,200 feet in actual length) <br />FAA notification surface to require the Filing of FAA Form 7460-1. <br />This fact is stated in the ALUC staff report and was repeated at <br />the ALUC hearing on the Project. Despite this fact, the Project <br />Resolution No. 2020-067 <br />Page 8 of 13 60A-11 <br />
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