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41" AND CABRILLO <br />WATER SUPPLY ASSESSMENT AUGUST 21, 2020 <br />In May 2019, the Newsom Administration revised their stance on the WaterFix in response to <br />multiple legal challenges. The revised project would include the construction of one tunnel <br />instead of the previously proposed two -tunnel system. At this time, the DWR and the US Bureau <br />of Reclamation (BOR) have withdrawn their water rights petition (the WaterFix Petition) and the <br />project has been postponed indefinitely. <br />Recycled Water <br />The City depends on OCWD for its recycled water supply for non -potable uses such as irrigation. <br />OCWD provided 352 AF of recycled water to the City of Santa Ana in 2015 as part of the <br />Green Acres Project (GAP). OCWD owns and operates the GAP, a water recycling system that <br />provides up to 8,400 AFY of recycled water as an alternate source of water that is mainly <br />delivered to parks, golf courses, greenbelts, cemeteries, and nurseries in the cities of Costa <br />Mesa, Fountain Valley, Newport Beach, in addition to Santa Ana. The City maintains an <br />agreement with OCWD to supply GAP water to customers where available. It is anticipated <br />that recycled water supplied to the City will maintain around 300 AFY through 2040. <br />3.2 CITY WATER DEMANDS <br />The City's Water Utility provides water service within a 27-square mile service area to a <br />population of approximately 335,299 as of 201 V . The City is almost completely built -out and <br />its population is projected to increase only 0.9% by 2040. Approximately 67% of the City's <br />water demand is residential including single family and multi -family residential units. <br />Commercial land uses, including dedicated landscape, accounts for the remaining 33% of the <br />total demand. The 2015 UWMP9 highlighted that water demands throughout the City were <br />36,656 AF from July 2014 to June 2015. The 2010 UWMP anticipated water demands in <br />2015 to be much larger at 47,800 AF. As mentioned, the difference is likely because of the <br />mandatory water restrictions from the Governor's Executive Order and the fact that UWMPs are <br />typically developed in a conservative manner and tend to overestimate future water demands. <br />In April 2015 Governor Brown issued an Executive Order as a result of one of the most severe <br />droughts in California's history, requiring a collective reduction in statewide urban water use of <br />25% by February 2016, with each agency in the state given a specific reduction target by DWR. <br />In response to the Governor's mandate, the City began to track its water wasting prohibition <br />enforcement activities. On June 2, 2015, the City declared a Phase 2 water supply shortage in <br />Resolution No. 2015-025 by formally requiring all water consumers to reduce use by 12% <br />relative to their 2013 consumption. Additionally, on August 4, 2015, a water wasting penalty <br />rate was established by Resolution No. 2015-047. This new penalty rate permits City staff to <br />penalize those users not meeting their water use reduction targets of 12%. The City of Santa <br />Ana as a whole met its State mandated target; as a result, the City did not have to impose any <br />monetary penalties on any of its users. <br />As of April 7, 2017, Governor Brown ended the drought State of Emergency in most of <br />California, while maintaining water reporting requirements and prohibitions on wasteful <br />a Center of Demographics Research (CDR) at California State University, Fullerton <br />2015 City of Santa Ana Urban Water Management Plan. Found here: htips://Www.santa- <br />ano.org/Sites/defoult/files/Documents/urban water_ mo nagement_pla n. pdf <br />FUSCOE ENGINEERING, INC. 55D-26 18 <br />