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3 - The Bowery
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3 - The Bowery
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<br />The Bowery Mixed-Use Project CEQA Findings of Fact <br /> <br />City of Santa Ana 21 <br />May 2020 <br />Operation <br />The Project would include vehicular access to the site from driveways on both Warner and Red Hill <br />Avenues. As described in draft EIR Section 5.13, Transportation, these driveways would provide <br />adequate and safe circulation to, from, and through the Project site and would provide a variety <br />of routes for emergency responders to access the Project site and surrounding areas. <br /> <br />During operation of the Project, residents and commercial building tenants would be required to <br />maintain adequate emergency access for emergency vehicles as required and verified by the City <br />and the OCFA. Because the Project is required to comply with all applicable City codes, as verified <br />by the City and OCFA, potential impacts related to emergency evacuation or emergency response <br />plans would be less than significant. <br /> <br />Impact Finding: The Project would not expose people or structures either directly or indirectly to a <br />significant risk of loss, injury, or death involving wildland fires (Draft EIR at p. 5.7-28). <br />Facts in Support of Findings: The Project site is located within an urban developed area and is not <br />located within an identified wildland fire hazard area and is not an area where residences are <br />intermixed with wildlands. In addition, implementation of the proposed Project would be required <br />to adhere to the following chapters of the City’s Municipal Code to reduce potential fire hazards: <br />Chapter 8.2 Uniform Building Code, Chapter 8.4 Uniform Mechanical Code, Chapter 8.5 National <br />Electric Code, and Chapter 14 City of Santa Ana Fire Code. Additionally, the Project would be in <br />compliance with any further guidelines from OCFA related to fire prevention and is subject to <br />approval by the City’s Building Division. Therefore, the proposed Project would not expose people <br />or structures to a significant risk of loss, injury, or death from wildfires. <br /> <br />G. Hydrology and Water Quality <br />Impact Finding: The Project would not violate any water quality standards or waste discharge <br />requirements or otherwise substantially degrade water quality (Draft EIR at p. 5.8-11). <br /> <br />Facts in Support of Findings: <br />Construction <br />Pollutants of concern during construction activities generally include sediments, trash, petroleum <br />products, concrete waste (dry and wet), sanitary waste, and chemicals. Each of these pollutants on <br />its own or in combination with other pollutants can have a detrimental effect on water quality. In <br />addition, chemicals, liquid products, petroleum products (such as paints, solvents, and fuels), and <br />concrete-related waste may be spilled or leaked during construction, which would have the potential <br />to be transported via storm runoff into nearby receiving waters and eventually may affect surface <br />or groundwater quality. During construction activities, excavated soil would be exposed, thereby <br />increasing the potential for soil erosion and sedimentation to occur compared to existing conditions. <br />In addition, during construction, vehicles and equipment are prone to tracking soil and/or spoil from <br />work areas to paved roadways, which is another form of erosion that could affect water quality. <br /> <br />However, the use of BMPs during construction implemented as part of a SWPPP as required by the <br />NPDES General Construction Permit and included as PPP WQ-1 would serve to ensure that Project <br />impacts related to construction activities resulting in a degradation of water quality would be less <br />than significant. <br /> <br /> <br />3-43
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