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Correspondence - #37
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Correspondence - #37
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5/3/2022 2:35:08 PM
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City of Santa Ana—Agenda Item 37 <br /> May 02,2022 <br /> Page 2of5 <br /> SWRCC incorporates by reference all comments raising issues regarding the EIR <br /> submitted prior to certification of the EIR for the Project. Citizens for Clean Energy v City <br /> of Wloodland(2014) 225 Cal. App. 4th 173, 191 (finding that any party who has objected <br /> to the Project's environmental documentation may assert any issue timely raised by <br /> other parties). <br /> Moreover, SWRCC requests that the City provide notice for any and all notices <br /> referring or related to the Project issued under the California Environmental Quality <br /> Act ("CEQA"), Cal Public Resources Code ("PRC") § 21000 et seq, and the California <br /> Planning and Zoning Law ("Planning and Zoning Law"), Cal. Gov't Code §§ <br /> 65000-65010. California Public Resources Code Sections 21092.2, and 21167(f and <br /> Government Code Section 65092 require agencies to mail such notices to any person <br /> who has filed a written request for them with the clerk of the agency's governing body. <br /> The City should require the use of a local skilled and trained workforce to benefit the <br /> community's economic development and environment. The City should require the <br /> use of workers who have graduated from a Joint Labor Management apprenticeship <br /> training program approved by the State of California, or have at least as many hours of <br /> on-the-job experience in the applicable craft which would be required to graduate from <br /> such a state approved apprenticeship training program or who are registered <br /> apprentices in an apprenticeship training program approved by the State of California. <br /> Community benefits such as local hire and skilled and trained workforce requirements <br /> can also be helpful to reduce environmental impacts and improve the positive <br /> economic impact of the Project. Local hire provisions requiring that a certain <br /> percentage of workers reside within 10 miles or less of the Project Site can reduce the <br /> length of vendor trips, reduce greenhouse gas emissions and providing localized <br /> economic benefits. Local hire provisions requiring that a certain percentage of workers <br /> reside within 10 miles or less of the Project Site can reduce the length of vendor trips, <br /> reduce greenhouse gas emissions and providing localized economic benefits. As <br /> environmental consultants Matt Hagemann and Paul E. Rosenfeld note: <br /> [A]ny local hire requirement that results in a decreased worker trip length <br /> from the default value has the potential to result in a reduction of <br /> construction-related GHG emissions, though the significance of the <br /> reduction would vary based on the location and urbanization level of the <br /> project site. <br />
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