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Settlement Agreement With Friends of <br />the Lacy Historic Neighborhood and First <br />Amendment to the DDA with Santa Ana <br />Station District, LLC <br />April 18, 2011 <br />Page 4 <br />• Addition of language referencing the settlement agreement <br />• Extension of the time to complete the lot mergers <br />California Environmental Quality Act (CEQA) <br />The Settlement Agreement and the First Amendment to the DDA will not result in any changes to <br />the Station District Project or the circumstances under which the Station District Project is <br />undertaken that would require any major revisions in the Final EIR, and there is no new information <br />with respect to the Project that would require such revisions. Additionally, no other terms of the <br />Settlement Agreement would require revisions to the Final EIR or further environmental analysis <br />because the terms do not involve new significant environmental impacts or a substantial increase <br />in the severity of an impact, and/or have no potential to result in a direct or indirect physical change <br />in the environment, and/or are otherwise exempt from CEQA. <br />Additionally, the preparation of an historic survey is exempt from CEQA under CEQA Guidelines § <br />15306, which exempts "information collection." Because the Historic Survey would simply evaluate <br />existing resources and would not result in any disturbance of environmental resources, it is exempt <br />from CEQA review. Establishment of the Lacy Neighborhood Housing Fund is similarly exempt <br />from CEQA because any improvements that would result from use of the fund would consist of <br />repair, maintenance or minor alterations of private structures involving negligible or no expansion <br />of the existing use. Therefore, establishment of the fund is exempt under CEQA Guidelines § <br />15301 (Existing Facilities). Further, any rehabilitation of homes consistent with the Secretary of <br />the Interior's Standards for the Treatment of Historic Properties with Guidelines for Preserving, <br />Rehabilitating, Restoring and Reconstructing Historic Buildings would also be exempt under CEQA <br />Guidelines § 15331. The salvage program is also exempt under CEQA because it is a component <br />of the ongoing salvage process with the Santa Ana Historic Preservation Society, which began in <br />2004, and under the Existing Facilities exemption (CEQA Guidelines § 15301) as it involves only <br />minor exterior and interior alterations. All other provisions of the Settlement Agreement have no <br />potential for resulting in a direct or indirect physical change on the environment and, therefore, are <br />not "projects" as that term is defined in CEQA Guidelines § 15378. Accordingly, they are covered <br />by "the general rule that CEQA only applies to projects, which have the potential for causing a <br />significant effect on the environment. Where it can be seen with certainty that there is no <br />possibility that the activity in question may have a significant effect on the environment, the activity <br />is not subject to CEQA." (See CEQA Guidelines § 15061(b)(3).) <br />8OA-4