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potentially introduce anew significant impact. It is anticipated, however, that under this alternative, <br /> transportation could be mitigated to less than significant. Under the GPU, transportation impacts <br /> are less than significant without mitigation. As with the GPU, impacts to air quality, cultural <br /> resources, greenhouse gas emissions, noise, and recreation would remain significant and <br /> unavoidable. The impact to population and housing would be reduced to less than significant. <br /> Overall, impacts under this alternative would be reduced in comparison to the proposed project. <br /> Due to the substantial reduction in housing opportunities citywide, this alternative is the least <br /> effective in achieving the project objectives of the GPU. By setting a development cap to limit <br /> housing and nonresidential development to the projections for the city in the 2020 RTP/SCS, this <br /> alternative reduces housing units by 31,515 compared to the GPU. It reduces housing <br /> development potential within the focus areas by 73 percent in comparison to the GPU, and <br /> reduces overall city future development by 27 percent.To achieve this reduction, the development <br /> cap would not only limit focus area development but would restrict the entitled housing in Specific <br /> Plans/Special Zoning areas (reducing total housing within these areas by almost 14,000 units). <br /> This alternative clearly would not optimize high density housing that maximizes mass transit use <br /> (objective No. 2) or provide urban-level intensities at the urban edges (objective No. 3). Moreover, <br /> it would not facilitate intensities that attract economic activities, particularly since it would not allow <br /> the maximum entitlement of approved Specific Plans and Special Zoning areas. It would achieve <br /> the remainder of the objectives, but to a lesser extent than the GPU. It would protect established <br /> neighborhoods, but not promote infill development as much as the GPU or other alternatives <br /> (objective No. 1). It would provide only limited opportunities for live-work and artist spaces and <br /> small-scale manufacturing (objective No. 7). <br /> Reduced Park Demand Alternative <br /> The City's Park standard of 2 acres per 1,000 residents is not achieved under existing conditions <br /> and development allowed under the GPU would further exacerbate park and open space <br /> shortages. Without new parks, growth in any of the focus areas would exacerbate the current <br /> level of park deficiency either in or adjacent to disadvantaged communities. The areas proposed <br /> for substantial new residential development under the GPU were compared to the distribution of <br /> existing parks—location, size, and demand—to define the Reduced Park Demand Alternative. <br /> The Reduced Park Demand Alternative reduces residential growth by 11,225 units by eliminating <br /> or reducing residential land uses and intensity in the five focus areas. Overall, nonresidential <br /> square footage would be reduced by a total of approximately 2.8 million square feet within the <br /> focus areas compared to the proposed GPU. The nonresidential square footage would increase, <br /> however, in two of the focus areas: 17th Street/Grand Avenue by 697,000 square feet, and South <br /> Bristol by 739,000 square feet. New residential growth under this alternative would largely be in <br /> currently planned areas that are generally near a substantial number of existing park facilities. <br /> Some residential growth would be introduced into two focus areas at substantially lower intensities <br /> to reduce the potential impact on park facilities. Changes to the focus areas are as follows: <br /> ■ South Main Street. This focus area would remain as currently planned as a commercial <br /> corridor(GC) instead of Urban Neighborhood (UN)and District Center(DC)to reduce intensity <br /> Santa Ana General Plan Update <br /> CE 5T ac an Statement 32 — 83 2 <br /> Of ri ing onsiderations -60- 61 /Rer�0 2 1 <br />