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05-11-20_AGENDA PACKET
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05-11-20_AGENDA PACKET
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<br />The Bowery Mixed-Use Project CEQA Findings of Fact <br /> <br />City of Santa Ana 42 <br />May 2020 <br />substances would be classified as a hazardous waste if they exhibit the characteristics of ignitability, <br />corrosivity, reactivity, or toxicity (CCR, Title 22, Division 4.5, Chapter 11, Article 3). The SMP would <br />detail hazardous materials excavation and disposal methods and requirements pursuant to the <br />regulation of Title 8 of the California Code of Regulations (CalOSHA) and Department of Toxic <br />Substances Control (DTSC) that regulates the removal, transportation, and disposal of hazardous <br />waste to protect human health and the environment. With implementation of Mitigation Measure <br />HAZ-1 impacts related to hazards from contaminated soils would be less than significant. <br /> <br />Plans, Program and Policies: <br />PPP HAZ-1: SCAQMD Rule 1403. Prior to issuance of demolition permits, the Project applicant <br />shall submit verification to the City Building and Safety Division that an asbestos survey has been <br />conducted at all existing buildings located on the Project site. If asbestos is found, the Project <br />applicant shall follow all procedural requirements and regulations of South Coast Air Quality <br />Management District Rule 1403. Rule 1403 regulations require that the following actions be taken: <br />notification of SCAQMD prior to construction activity, asbestos removal in accordance with <br />prescribed procedures, placement of collected asbestos in leak-tight containers or wrapping, and <br />proper disposal. <br /> <br />PPP HAZ-2: Lead. Prior to issuance of demolition permits, the Project applicant shall submit <br />verification to the City Building and Safety Division that a lead-based paint survey has been <br />conducted at all existing buildings located on the Project site. If lead-based paint is found, the <br />Project applicant shall follow all procedural requirements and regulations for proper removal and <br />disposal of the lead-based paint. Cal-OSHA has established limits of exposure to lead contained <br />in dusts and fumes. Specifically, CCR Title 8, Section 1532.1 provides for exposure limits, exposure <br />monitoring, and respiratory protection, and mandates good working practices by workers exposed <br />to lead. <br /> <br />Mitigation Measures: <br />Mitigation Measure HAZ-1: Prior to issuance of a grading permit, a Soil Management Plan (SMP) <br />shall be prepared by a qualified hazardous materials consultant and shall detail procedures and <br />protocols for excavation and disposal of onsite hazardous materials, including: <br />• A certified hazardous waste hauler shall remove all potentially hazardous soils. Excavation <br />of contaminated soils shall be removed. In addition, sampling of soil shall be conducted <br />during excavation to ensure that all contaminated soils are removed, and that residential <br />Environmental Screening Levels (ESLs) for residential uses are not exceeded. Excavated <br />materials shall be transported per California Hazardous Waste Regulations to a landfill <br />permitted by the state to accept hazardous materials. <br />• Any subsurface materials exposed during construction activities that appear suspect of <br />contamination, either from visual staining or suspect odors, shall require immediate cessation <br />of excavation activities. Soils suspected of contamination shall be tested for potential <br />contamination. If contamination is found to be present per the California Department of <br />Toxic Substances Control (DTSC) or Regional Water Quality Control Board (RWQCB) ESLs <br />for residential uses, it shall be transported and disposed of per California Hazardous Waste <br />Regulations to an appropriately permitted landfill. <br />• A Health and Safety Plan (HSP) shall be prepared for each contractor that addresses <br />potential safety and health hazards and includes the requirements and procedures for <br />3-64
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