Loading...
HomeMy WebLinkAbout02-Planning J ] - CITY OF ~N BERtOlDI NO - REQUEST lOR COUNCIL ACTION , From: Brad L. Kilger Director of Planning Subject: General Plan Adoption Dept: Date: Planning Mayor and Council Meeting of May 24, 1989 May 19, 1989 Synopsis of Previous Council action: None Recommended motion: That the Mayor and Common Council continue the public hearing on the Draft General Plan and Final Environmental Impact Report to May 31, 1989 and adjourn the meeting of the Mayor and Common Council to May 31, 1989 at 9:00 a.m. ~L.~ It!<. Signature Brad L. Kilger Contact person: Brad L. Kilger Phone: 384-5357 Supporting data atteched: Ward: City-wide FUNDING REQUIREMENTS: Amount: Source: (Acct. No.) (Acct. DescriPtion) Finance: Council Notes: 75.0262 Agenda Item No J.l JIIlI CITY OF SAN BER~DINO - REQUEST POll COUNCIL ACTION . . STAFF REPORT Subject: General Plan Adoption Mayor and Council Meeting of May 24, 1989 General Plan Adoption a. Final Environmental Impact Report Environmental Impact Report Comments and Responses Draft Findings Draft Statement of Overriding Considerations Draft Mitigation/Monitoring Program b. Other Comments on the Chapters and Subsections of the Draft General Plan. c. General Comments on the Draft General Plan. d. Continued Items. 75-0264 NUM o SPEAKER B-42 Ernest Riffenburg B-43 Hal Heywood B-44 Mary Montrenec B-45 Dana Pankey B-46 Frank Tracadas B-47 B-48 Edward Locke Michael Schneider LOCA'rION . a) I215 Freeway at university Pkwy b) NW of Stater Bros e?I ~~ 1906 block of "E" st. o , !'..~. -;..r....t./.( -sA 'iF ') MCC ACTION REOUEST RL to CG RU to RMH RMH ~G-.0~4'" '7't / 6/.?b West Side of Macy RS t~&td' /.5>s)1F;1 North of Highland Ave. East side of "0" st. RM tG>ad /t:> S;(,;d from 15th to 16th ~~ yo 7 South side of Highland RS ~~~7 s-I y wer;;t of~ediPal, Cen~~!!r ~.;z Or1ve ~ ~ ~a'~ ~~ AfA./ uI~. ,j' southeast ~rner of CG-1 ~" Blood Bank Rd & "E" st. ~ RU tECCG-1.) (k..L /t'" ~ Kendall Dr. southerly of Palm Avenue B-49 John Edwins North of Ostrems Way. adjacent to I215 FWy . ;:J~ /. If. cX~~ - wW ~ ..#?WU1L4eJi.>i:f. ~ ~7 w/~. B-50 Charles Garner South de 5th st. B-51 Mel Harrison B-52 Richard Bristow do?u... w / .8 - 3S" B-~3 Jerry La~~ 1(}/11-/~ A~' B-5!E 13-5'1 B-55 B-56 Ernest Ramirez ..s::tw<- a..o~ Albert Cohen ~.~ Charles Schultz ~ ~ a) 60 acres at Cable ; Lakes westerly of Palmi b) 5 acres westerly of\ RL/to CN Little Leaque next \<~/ to pet cemetary . c) Concur with 25 feet setback in Verdemont area a)S;w Lbrtua~' y- S-.J..h Southeast corner of Ohio and Palm 741 E. Baseline (entire block) 10th & "E" st. Laurelwood, west of Tippecanoe Northeast corner of 6th & Sterling b.) ~J @ 111-+4... D.. N/L ~ To allow hotel tJua! /9 uses in CG-1 ~y and increase H mit CG-1 (?a,d o2OsA~ ad 02 / s/o./Y CG-1 & RM to (?Uf:7" 9 sic($- CG-1 Used car sales and auto-related on N. "E" st. Auto repair (! ~ .;Z.;L uses in CR-3 -~ Retain RMH-15 / ; , I RLtoRM &d ~ s"' ~ 1- tC/ .~ ~.A ~ ~ IZ# 0!-)~(YJ &d' ,;;J 'I o mm SPEAKER B-57 Mary Ann Caldwell 1t' B-58 will Sturn B-59 Kevin Mitchell -11-60 Ernest Fisher ,.;B-61 Jay Gordon ~-62 Harold Anderson B-63 a) Ernest Riffenburg b) James wirth B-64 Joyce Jacobs B-65 Staff B-66 Staff B-67 Staff B-68 Staff B-69 Staff jf? B-70 Staff B-71 Letter-Resident Petition , , LOCATION 2078 N. waterman Foothill areas, east of Hemlock,west of willow Dr. a) Northwest corner Belmont & Little League Dr. b) Baseline st. at Lassen 1500 N. Stoddard East of California north of 19th st. Northwest corner Kendall & Mountain 2730 N. "E" St. 2730 N. "E" st. Northwest corner Western & Trenton Tippecanoe south of Central ~. california'Cbf SR-30 sierra Way at 27th South side of 40th east of Kendall Waterman Ave. north of Highland City Creek north Highland 1490 LynWOO~ o REOUEST MCC ACTION dud c-Jj.v?1" ri"y (~ '-'z/)- RE designation (]ud 'If> IlJII tJj M7~","/ /~ Small rest. or office in converted residence RL .~ RE..- C~ Concur with IL RMH to CG-l ~ RS to RM 'f Concur with PC u CG-l ~J ,;l ~ RS PFtG) RS€) eM! 3 J ~3r (latd ~D (kcl 'II OMd~ -Iy(O ~ C6-/ RMt 2000 RS~!:~) /If u~ 10 0 ap C(it.101 I (Jatd tj c; RM to RS /I I 'I..s' 12m (JI.Aa on PFC to RL CHMOD) 6-(09 .9. b-- / ~ ~ 9 (pr-/:; ~- M~~ ~7~-~3~ ~ c). ~ ~ ,eVL-~tiAJ l/3 "1F . mm B-72 B-73 B-74 B-75 B-76 B-77 B-78 B-79 B-80 B-81 B-82 B-83 B-84 B-85 B-86 SPEAKER Letter- Bill Nessel Letter- Daniel Salter Letter- Harvey Olsan Letter- Jim Brickly Letter- Ronald A. Brandt Letter- Martin Rohr Letter- Russell Merwin .. - o LOCATION North "E" st. Central City south overlay area near Inland Center Central city south overlay area near Inland Center o REOUEST MCC ACTION RMH t~ 6:ud' ?! .:y"?3 CG-1 \ IL to CG-1 ) / IL to 5"/3/ North side of Baseline CM-type /l _/ ~;7 on 1215 Fwy d1LlLD7? I!r?J designation Lu...wv...._ _ / ~ (~~.. 94 ~dtUUi:J c/dHn .o7#:Cf North of Walnut Remain~ t!/ Ccqc/ ~r Btwn Muscott & Artesian ~~ ~ rn /7>'t"jO vo/'r a.o ~ ~.~ d~~~ r';-S~ f1Mcls~ 400 S. Allen 888 Medical Center Dr. Letter- North side of Bryant, Ludwig Eng. east of Lugo Su p~ alL?l? /. 7.02-/ Hi~h and at Rt.33(l ~h: ,.e 1/tv' a-u tV v..<-o' ,e 5 " Letter- Cal Trans councilman Reilly Councilman Reilly Councilman Reilly Councilman Reilly councilman Reilly councilman Reilly 1300 N. "0" st. 1200 Block of Stoddard Baseline,east of Tippecanoe South side of 9th st. near Del Rosa 1300 block of N. "0" st. 21st Street @ crestview CH to allow steel fabri- cation RM to CG-1 CO-lor T for rear parcel to allow parking conce~ed h RS to CG desiq ion See B-1 ~6.? ~ See Audit Trail ~. II - 107 Area 3 r See B-38 48 Area 7 See Audit Trail II r See B-33 ~b~? See B-28, B-40 ~ tJ. t/. - /;~~ "vK.l ~ar 0 REOUEST MCC ACTION RS to RU RS to RU RS to RU RS to RU RS to RU RS to RU Fe~ RIi To U-I LOCATION 1076 spruce 1045 Spruce 948 8th st. 1258 Vine st. 1261 8th st. 1240 Massachusetts 13-91 rft; ~. ~7?t.. Sj-' 9Jid<5 70 -71' 7A~ 3'7yr (~/ ;oP ~ ~~ I' '"f7.P- 0- rJJP /)?tar ~ OJ p~~ 6- 9::'/ k~- ~ r- E... // I'll f!/.' - d-... "_no, ______" {Ja,c/ 6/ L/~~~ ~ . QUE SPEAKER JIIj UI - o o (i-b~' , n s/~ '-1/,10 MCC ACTION ------------- --------------- -------------------------------- -------- LOCATION REQUEST A-I J~~ES wIRTH A-2 DAVID MLYNARSKI A-3 COURTNEY BUSE A-4 DAVID SCHULTZE A-4a HIGHLUiD TO 5TH, 1-215 TO SIERRA wAY ADD POLICY TO GP TEXT FOR 5% (wARD2) VAR.TO LOTS IN TARGET AR~\ (SEE ATTACHMENT A) CITYWIDE a) 'UNITS PER GR.ACRE'OR MIN,LOT SIZE b)DELETE CUSTOM FROM RL IN 1.1.3b. VARIOUS TOPICS - SEE ATTACHMENT B CITYwIDE a)AGREE WI POLICY 1,25,10 b)POLICY 1.30.10 .\DD RETAIL , SERVICE & OFFICE USES c)CONCERN ABOUT CENTR\L CITY SOUTH d)PROVIDE 'GR\NNY FL\TS' A-5 JOHN CITYWIDE STUBBLEFIELD INADEQUACIES OF GENER\L PLAN (SEE ATTACHMENT C) A-6 KEN MILLER N/O ORANGE SHOw ADDITIONS TO TEXT:OBJECTIVE 1.18 (wARD 3) RD. E/O 1-215 & POL.l.18.10 & 1.18.32 (SEE ATTACHMENT D) A-7 DON TO"1\SEND a)MT. VERNON N/O a) MU DESIGNATION TO ALLOw IL BASELINE USES & NO MULTI-FAMILY b)CG-l b)BASELINE W/O 1-215 A-8 JA}(ES wIRTH A-9 BCD ROBERTS A-tO JOHN EDwINS A-II TED SIRKEN CITYWIDE SAME COMMENTS AS A-I, CITYwIDE CHANGE RL FROM 3du/ac TO 4du/ac VERDE~lONT Ca~~GE RL DENSITY OR ADD RS-IO.800 (wARD 5) CITYHDE EXPAND LOCATIONS FOR CG-2 ~ L .L 4- o o QUE SPEAKER LOCATION REQUEST ~CC ACTION ------------- --------------- -------------------------------- -------- B-[ LOIS WILLIS 1300 BLOCK OF D CHANGE FROM RS & RU TO CG OR STREET CO. (SEE ATTACHMENT E); PETITION SUBMITTED ~ g-:33 " g,S- <!AR~ 2) ~6'> ~~ B-2 DENNIS H.~ENSLEY KENDALL .W. UNIVERSITY PWKY. WIO CHANGE FROM RU TO CG-3 & ~~. (SEE ATTACHMENT F); Ow~ER KENDALL FEED STORE (WARD 5) B-3 TED SIRKEN FOOTHILL BLVD. CH.~NGE FROM RM TO CG-2 DALU.S TO XACY (WARD 3) B-4 DIANA 5TH & R.~10NA CHANGE FROM RU TO CN WILLI.<\.~S (WARD I) B-5 LINDEN ~~LKI a)9TH FROM D TO a)CHANGE TO CG-I b)CH.~NGE TO 1-215 b)F FROM CG-I (SEE ATTACHMENT G) 6TH TO 10TH efin/~ ~ (WARDS I & 2) B-6 DAVID ML \~ARSKI OLIVE. PINE & CH.~NGE RL TO RS WALNUT NIS OF OHIO (WARD 5) B-7 J~IES ROE VARIOUS CH.~NGES AS FOLLOWS; LOCATIONS B-7a AT II SITE #51 RM TO CG d4N ~() O.ARD 2) B-7b AT II SITE #52 RM TO CG (WARD 2) B-7c AT II SITE #53 RM TO CG (WARD I) B-7d AT II SITE #54 RM TO CG (WARD I) B-7e AT II SITE :55 RM TO CG (WARD I) B-7f AT II SITE #56 RH TO CG (WARD 1l B-8 CHET ANDERSON VALENCI.-\ CHANGE FROM RS TO RE (SEE (WARD 7) BET'''EEN A IT ACHMENT H) MARSHALL & AVERY B-9 CH.~RLES GOODE SIO 39TH ON CHANGE FROM RS TO RMH (WARD 4) FERN DALE B-IO BVD ROBERTS a)SEC OLIVE & a) CHANGE FROM R~ TO RS IRv~GTN. b)SWC b)CHANGE FROM RL TO RS (WARD 5) QUE SPEAKER - o o LOCATION REQUEST MCC ACTION ------------- --------------- -------------------------------- -------- PINE &. IRVNGTN. B-11 NORRIS SEC HH &. CHANGE FROM CO-l TO CG (SEE ~tl'D~ GREGORY SIERRA WAY ATTACHMENT I) B-12 EVERETT KENDALL &. CHANGE FROM RU TO CG-3 (WARD 5) MCGREW FLD.C~TL. CHAN:-iEL 8-13 ~RK OSTOICH MILL &. SIERRA PERMIT OFFICE TJSES IN CH ,",'Yo (WARD 1) B-l~ JOHN WAL~uT &. PICO Ca~NGE FROM RU TO IL LIGHTBURN (WARD 3) B-15 ROY ROBERTSON a)BR'~~NT E/O ALLE~; bHlAGNOLIA &. H a) Ca~NGE FROM RM TO RMH b)CHANGE FROM RM TO RMH (SEE ATTACHMENT J) (WARD 1 &. 2) B-16 DAVID SCHULTZE B-17 J.~~ES ~IRTH B-18 D.IU''-LEY &. H.BICKLER B-19 LEO LYONS CITYWIDE ELIMINATE MINIMUM LOT SIZES (SEE ATTACHMENT K) SIERRA WAY N/O WANTS VARIANCE ON LOT SIZES 16TH (WARD 2) N/O S!L'\~DIN HILLS GOLF COURSE C!L~NGE MH TO RL &. EXCLUDE FROM (WARD 5) _L MH STANDARDS (SEE ATTACIL.'1ENT U ~?,,z 5)'z'?' KENDALL BETWEEN (SEE ATTACHMENT M) F &. H (~ARD 5) C-G- - / 6eI~ 7~ 5P3 8-20 TED ~~SHIMURA PAL~ N/O KENDALL ca'\NGE FRml RL T~ ATTACHMENT N) ~ <C:^/~~ ~ /1.aQ~ sA'! aud, .3 (WARD 2~.1 6u/~ -9'~ B-21 GEORGE SWITZER 8-22 D.~~A PANKEY B-23 PAUL ~IELER ARROwliE.AD AT 20TH CHANGE FROM RU TO CO-2 (SEE ATTACHMENT 0) a)NEC 5TH &. MT.VIEW b)9TH H a)C!L<\NGE FROM CO-l TO CR-2 (WARD 1) / &. b)Cj4NGE FROM RM TO CG-l (SEE ~ ?v S'/~~ ATTACHMENl t'r ~ NWC 13TH &. ;ht,'rdU/' CHANGE FROM RM TO CO-l 6n/"'..j,D 1) QUE SPEAKER - o o LOCATION REQUEST MCC ACTION ------------- --------------- -------------------------------- -------- MT.VIEW B-24 BILL SIKES B-25 MARK KIM B-26 PAT GREEl' "'-~r/ CG- I (WARD 2 CO (~ ~)7t> CG-- /.c- 71' a)l571 N. 'E' alCHANGE FROM RMH TO ST. bJ1956 b)CHfu~GE FROM RMH TO N. 'E' ST. ATTACHMENT Q) 1J'72 y ....,~~ CHANGE FROM RM TO CG-l A TTACIDIENT R) (SEE <2!J}J ,b1 40TH & H N/O CO~IERCIAL~a~~GE FROM CR-3 TO IL BET.Hl'!-iTS & WATERMAN (WARD 3) @'14' ~I B-27 ERNEST FISHER 1554 STODDARD CHANGE FROM R~H TO CG-I (SEE ATTACIDIENT S) bt:wI/Jv (WARD 2) B-28 DENNIS KELLY CRESTVIEW & 21ST CHANGE FROM RS TO CO-I (SEE ATTACHMENT TJ (WARD 2) FOISY & CENTRAL (SUBMITTED MAP WITH .ry"'" a; (WARD 6) RECCOMENDATIONS) ~~-Y' ..; cP"" 5/....,""~. ~ 9,n;",.n.,_'f~"./ (du~~ S/so CHANGE FROM TO CG-l (WARD I )W& B-29 DON TOw~SEND ~V RDA AR~~ B-31 J~NE SALOMON 10TH & WESTERN 4/. <9.1 uJ~ (J //+11_ '1-#1 ~ B-32 GENEVA WOODS CITYWIDE SUBMITTED LETTER FROM LEAGUE OF X ~~ ~ ~~ + ~ ~, ~ WO'" VOTERS 'SEE ATTACIIlIENT V) " 8-33 ALDOF~~;: 1300 BLOCK OF D CHANGE FRml RS TO RM (SEE L' / ..Lw'ARD 2) STREET ATTACHMENT W) -,.> B-34 ROD McDONALD TRI-CITY AR~~ a)ALLOW STAFF TO INT. FAR ~~(~~~ /W~./c..- ~ b)DRIVE THRUS IN TRI-CITY,,~ (!eUd7~ ,Ow. Cb:u.. ..dt tJ~ - c )ALLOW ) 4 STORIES S/.;l4' ~. &cf9Isj~~ BASELINE & LA CHANGE FROM RM TO CG::~ .. / (WARD 2) JUNTA ~ C6-~ ~a:bK- ahJ.# ~ ~~tL ~ a ~ a./ .3001"_: ktw.__ ~ t7 or- ='o/~ on ~ ~ ot- ~ , t:lrvA D?I d1IL uJ. W/;Wne~ d<l4t... ~aXiJJ(. .ePJ 240i"'LEROY CHANGE FRO RMH ( (WARD 2) ~J. t1ud.. /0 y-7'd.,/ B-30 ANTONIO ATILANO B-35 RICa~RD \BRISTOW " i.U/ 13 -S~ B-36 MO. GHIASSI ca"NGE FRf R~~~~( SEE ATTACHMEN U J (WARD 6)' &..,.( s 11 s;4..s L , . . o o MCC QUE SPEAKER LOCATION REQUEST ACTION '-3' ~~~~:::~~:--- ~;;~~~-~-~;;-- ~~~-;~~6-~~=~-------~-- ~-~~ B-38 RON MORAN 1411 BASELINE Ca\NGE FROM CG-2 T~EE (WARD 2) .~ w/..'U/- ~z: ...t~ ATTACHMENT X) ~. du.:(. /.;1. ~ &'j-'rJ MJ/~~k ~i ~~;: f4-/~~""~~_6~) ~~y 8-39 FRANK KENDALL S/O' CHANGE FR~G-1 ( EE (WAilD 5) TRACADAS PALM ATTACHMEN~- - Cz.,c(. /3'11>7 .s:J.<'I B-41 HELEN KOPCZYNSKI CITYWIDE tJ) IL<\NGE FROM RS TO CG-1' (WARDS 7 CHANGE FROM RS TO CO-1" & 2) tJO-I, ~ aid.. .y ~dy ~ ('~ l' ~~ 029',.y, '!;> /' ~c:dt. VARIOUS CONCERNS ABOUT GENE~\L/.~~d~ PL~N & EIR. I ?v~ a-;.::;~~cL ./;~ ~ B-40 H.CISNEROS a )WATER~1AN & 29TH b)CRESTVIEW &. 21ST ~ II w, C I T~ 0 F SAN BE R N A R ~ INTEROFFICE MEMORANDUM 8905-2313 N 0 TO: Mayor Wilcox, City planning commission Council Members and City FROM: Brad L. Kilger, Director of Planning SUBJECT: RESPONSE TO COMMENT DOCUMENT DATE: May 19, 1989 COPIES: ------------------------------------------------------------- Attached are the Responses to comments on mental Impact Report. These comments comments will be included in the Final EIR the Draft Environ- and responses to (FEIR). There were a total of 22 persons or agencies who commented on the Draft EIR during the 45 day public review period. Each of these comments have been assigned a letter from A thru V. This letter appears in the top right corner of each comment letter. Each comment within the letter is numbered. At the end of each of the comments are the responses. The responses have the assigned letter (i.e. A thru V) as well as the number of the comment for ease in coordinating the comments and responses. The majority of the comments received were from city Departments including extensive comments from Planning Department. This was necessary because we were not given an opportunity to review the Draft EIR before publication. Therefore, we conducted the "administrative review" during the public review period. Unlike the General Plan process, staff will not be devoting a substantial amount of time "walking through" the environ- mental documents. We ask that you review them prior to the scheduled hearings because part of the certification process of the FEIR requires that the decision-making body consider the information in the Final EIR before taking action on the proposed project. If you have any questions, please call Ann Larson or Vince Bautista at (714) 384-5057. Sincerely, ~ t. ,e~,b- Brad L. Kilger Director of Planning o o RESPONSE TO COMMENTS ON DRAfl E~V~RO~ME~lAl ~M~ACl RE~ORl City of San Bernardino General Plan Envlcom Corporation In association with: OKS Associates . Albert A. Webb Associates . Sage' Associates MAY-19-S9 FRI 5:1~ o o ERRATA SHEET TO mE :~~Rl'MRDTNO DW1PLAN lUR. :sUQ COMMlimi DOCUMElir. DATED MAY 11, 1989 ~place re$ponse to romment ~206 with~wini: As the significant mineral resource areas existing within the planning area are preserved by the Draft Plan for future aggregate production, the loss of any aggregate resource as a result of land uses proposed by the Drait Plan is considered an adverse but not significant impact (Class 3). Potential impacts from mining with respect to aesthetics, air quality and biological resources are considered to be adverse but not significant. With respect to aesthetics and air quality impacts, policies and implementation programs referenced In response to Comment El provide for reclamation and fugitive dust mitigation. Potential impacts with respect to biological resources can be mitigated per Information provided in response to comment N165. consequently, the level of environmental significance is Class 3. The following information will replace the discussion in Section 4.3.4.5 of the Drait EIR: "As the significant mineral resource areas existing within the planning area are pre- served by the Draft Plan for future aggregate production, the loss of any aggregate resource as a result of land uses proposed by the Draft Plan is consiq,ered an adverse but not significant impact (Class 3). Potential impacts from mining with respect to aes- thetics, air quality and biological resources are considered to be adverse but not signifi- cant. With respect to aesthetics and air quality impacts, policies and implementation programs identified above provide for reclamation and fugitive dust mitigation. Poten- tial impacts with respect to biological resources can be mitigated per information pro- vided in Biological Resources, Section 4.3.14." Consequently, the level of significance is Class 3." MA'.~-20-89 SAT b 12 P.03 o ERRATA SHEET #2 TO 11iB ~DINO DRAUPLAN E.I.R. , ~NSETOCo~DOCUl@NT DATED MAY 17, 1989 Rel2.lace rellponse to comment 02 with the followiJ\g: The percentages on Table 13 have been corrected as indicated on the following page. The 1.6 million retail trips were calculated based upon 31.9 million square feet of retail space indicated In Table 2 and the trip generation factors provided in response to comment N82. MA.....-20-S'Sl SAT 7' . 12 o p.e4 o TABLE 13 (Revised) Average Daily Vehlde Trip Ends Associated with Existing (1987) Conditions and the Draft Plan 1987 Increase Above % Increase Land Use Existing Draft Plan Existing Above Existing Cat~~ IIiI' Ends IJip En4a, Conditions Conditions Single-family 597,000 698,900 +101,90~ +17% Multi-family 133,100 201,900 +68,800 +52% Office 47,800 252,000 +204,200 +437% Retail 411,100 1,675,700 + 1,264,600 +307% Industrial 45,600 276,400 +230,800 +506% TOTAL 1,234,600 3,104,900 +1,870,300 +152% Source: DKS Associates, March, 1989. o o The following material provides responses to the comments listed below received regarding the San Bernardino General Plan EIR. Date A. March 20, 1989 B. March 27, 1989 C. March 31, 1989 D. April 6, 1989 E. April 10, 1989 F. April 10, 1989 G. April 14, 1989 H. April 19, 1989 I. April 21, 1989 J. April 21, 1989 K. April 24, 1989 L. April 24, 1989 M. April 27, 1989 N. May 1, 1989 O. May 3, 1989 P. May 2, 1989 Q. May 3, 1989 R May 5, 1989 S. May 5, 1989 T. no date U. May 12, 1989 V. May 11, 1989 SAN BERNARDINO GENERAL PLAN ElR RESPONSE TO COMMENTS MAY 17, 1989 Or~anization Southern California Gas Company State of California, Department of Water Resources San Bernardino Oty Unified School District U.S. Army Corps of Engineers Oty of San Bernardino Oty of San Bernardino Oty of San Bernardino Oty of San Bernardino Oty of San Bernardino Oty of San Bernardino Oty of San Bernardino Arda M. Haensze1 Oty of San Bernardino Oty of San Bernardino City of San Bernardino City of San Bernardino California Department of Transportation California Department of Forestry California Regional Water Quality Control Board Oty of San Bernardino Police Department California Office of Planning and. Research San Bernardino County Flood Control Department Envicom Corporation 4764 Park Granada, Suite 202 Calabasas Park, California 91302 (818) 340-9400 Si&I\ature Roger L. Baughman Charles R White Scott Shira Robert S. Joe Brad L. KUger T.L. Cain Brad L. KUger Robert Ewing Charles P. Dunham Annie F. Ramos James C. Richardson Arda M. Haenszel Gene R. Klatt Brad L. KUger Jim Knight Jim Knight Harvey Sawyer David J. Driscoll Gary Krueger no signature David C. Nunenkamp Kenneth D. Guidry - " o o EY/ v. LOwI MfJ.,R 21 1939 , fTl SOUTHERN CALIFORNIA ~ COMPANY A -...-. 1981 WGONIA AVENUE. AEDLANDS. CAUFORNIA '. ~ ~ "'. . MAlUNG ADDRess, P Q BOX 3003. REDLANos. CAuFORNIA ll2373-03OII Barch 20, 1989 , " City of San Bernardino 300 North "0" Street San Bernardino, California 92418 ATTENTION: Vincent Baut~sta RE. City wide and sphere of influence The Southern California Gas Company has a gas main in various locations areas. Distribution lines could be extended from these mains to serve the proposed development without any significant impact on the environment. The service would be in accordance with the Company's policies and extension rules on file with the California Public Utilit~es Commission at the time contractual arrangements are made. The ava~lability of natural gas service, as set forth in this letter, is based upon present ~onditions of gas supply and regulatory policies. As a public utility, the Southern California Gas Company is uncle. tne jurisdiction of the California Public Utilities Commission. We can also );~ affected by actions of federal regulatory agencies. Should these agencies take ~y action which affects gas supply or the conditions under which service is aval"able, gas service w~ll be prOVided ~n accordance \Vlth revised conditions. Typical demand use for: a. Residential (System Area Average/Use Per Meter) Yearlv Single ramHy Multi-FamHy 4 or le,ss units Multi-Fam~ly 5 or more units 799 therms/year duelhng unit 482 thermstyear dwelling unit 483 therms/year dwelling unit These averages are based on total gas consumption' in residential units served by Southern California Gas Company, and it should not be implied that any particular I home, apartment or tract of homes will use these amounts of energy. ~ b. Commercial Due to the fact that construction varies so Widely (a glass bUilding vs. a heavily insulated building) and there is such a wide variation in types of materials and equipment used, a typical demand f~gure is not available for this type of construction. Calculations would need to be made after the building has been designed. .' ., " o o " To insure the existing facillties are adequate to accommodate the new d~velopment, an engineering study will be requlred. Detailed information including tract maps ~ and plot plans must be submltted to the Gas Company liarket Servlces Representa- tive, 1-800-624-2497, six months prior to the actual construction of the natural gas pipeline. We have developed several programs Which are available. upon request, to provlde assistance in selecting the most effective applications of energy conservaticn Ll techniques for a particular project. If you desire further lnformatlon on any ot -\ our energy conServation programs, please contact our Area Uarket Services llanager, P.O. Box 3003, Redlands, CA 92373-0306, phone 1-800-524-2497. Sincerely, ,f?f''Oa<.L ~~- Roger L. Bau~~'-'-' Technical Supervisor PTG:teb cc: EnVlron !\ffalrs - ilL:09B .' . o o Response to Comments from: Southern California Gas Company (dated March 20.1989) AI Information provided in this comment has been addressed in Section 4.2.2.4 of the Draft EIR. A2 Factors used in calculating the project-related demand for natural gas are those suggested by the South Coast Air Quality Management District's Handbook for Preparing Environmental Impact R~orts. These factors are considered to be appropriate for calculating natural gas demand in the Southern California area. A3 This comment refers to the design, and provision of natural gas, to individual projects, and not to the broader scope of the General Plan. A4 See response "A3" above. . ~~ ,}'" Slale 'of California o o The Resources Agency Memorandum Date B MAR 2 7 1989 !""'-. ~ ,~ I if>; .- L.:'~ 7 i :j To 1. Gordon F. Snow, Ph.D. Assistant Secretary for Resources 2. Ci ty of San Bernardino Planning Department 300 North "D" Street San Bernardino, CA 92418 Attention: Vincent Bautista Departmenl of Water Resourc.. I "'"0 , 3 198Q .~!' i., !l o .. From ~'T,"t; ;~: ,~. us... . .....;~';.. _ \ ~~.; ~.'.'" ~ ,''';:~i' '-~',~::; ~;" S..t. .-..........u.....i. 1_... Los Angeles, CA 90055 Subject , Notice of Preparation of DEIR for a Proposed Comprehensive City-Wide General Plan Program. dated February 1. 1989 Your referenced document has been reviewed by our Department staff. Recommendations, as they relate to water conservation and flood damage prevention, are attached. . I I The Department recommends that you consider implementing a comprehensive J program to use reclaimed water for irrigation purposes in order to free fresh -:... water supplies for beneficial uses that require high quality water. For further information, you may wish to contact John Pariewski at 213-620-3951. Thank you for the opportunity to review and comment on this report. Sincerely. C~~ Charles R. White. Chief Planning Branch Southern District Attachments cc: Office of Planning and Research State Clearinghouse 1400 Tenth Street Sacramento, CA 95814 - , 1 o o ; l . DEPARTMENT OF WATER RESOURCES RECOMMENDATIONS FOR WATER CONSERVATION AND WATER'RECLAMATION To reduce water demand. implement the water conservation measures described here. RequIred The fOllowing State laws require water-efficient plumbing fixtures in structures: o Health and Safety Code Section 17921.3 requires low-flush toilets and urinals in virtually all bUildings as follows: "After January 1. 1983. all new bUildings constructed in this state shall use water closets and associated flushometer valves. if any. which are water-conservation water closets as defined by American National Standards Institute Standard A112.19.2. and urinals and associated flushometer valves. if any. that use less than an average of 1-1/2 gallons per flush. Blowout water closets and associated flushometer valves are exempt from the requirements of this section.. o Title 20. California Administrative Code Section 1604(f) (Appliance Efficiency Standards) establishes efficiency standards that give the maximum flow rate of all new showerheads. lavatory faucets. and sink faucets. as specified in the standard approved by the American National Standards Institute on November 16. 1979. and known as ANSI A1l2.18.1M-1979. o Title 20. California Administrative Code Section 1606(b) (Appliance Efficiency Standards) prohibits the sale of fixtures that do not comply with regulations. No new appliance may be sold or offered for sale in California that is not certified by its manufacturer to be in compliance with the provisions of the regulations establishing applicable efficiency standards. o Title 24 of the California Administrative Code Section 2-5307(b) California Ener Conservation Standards for New Buildin~s prohibits the installation of fixtures unless the manufacturer has certified to the CEC compliance with the flow rate standards. o Title 24. California Administrative Code Sections 2-5352(i) and (j) address pipe insulation requirements. which can reduce water used before hot water reaches eqUipment or fixtures. These requirements apply to I steam and steam-condensate return piping and recirculating hot water t piping in attics. garages. crawl spaces. or unheated spaces other than between floors or in interior walls. Insulation of water-heating systems is also required. :< . . I I I i I I I I , I I I ,.' . .-' o o " o Health and Safety Code Section 4047 prohibits installation of residential water softening or conditioning appliances unless certain conditions are satisfied. Included is the requirement that. in most instances. the installation of the appliance must be accompanied by water conservation devices on fixtures using softened or conditioned water. o Government Code Section 7800 specifies that lavatories in all public facilities constructed after January 1. 1985. be equipped with self-closing faucets that limit flow of hot water. To be Implemented where eppllcable Interior: . \ \ I \ 1. Supply line pressure: Water pressure greater than 50 pounds per square inch (psi) be reduced to 50 psi or less by means of a pressure-reducing valve. 2. Drinkin~ fountains: Drinking fountains be equipped with self-closing valves. 3. Hotel rooms: Conservation reminders be posted in rooms and restrooms.- Thermostatically controlled mixing valve be installed for bath/shower. 4. Laundry facilities: Water-conserving models of washers be used. 5. Restaurants: Water-conserving models of dishwashers be used or spray emitters that have been retrofitted for reduced flow. Drinking water be served upon request only.- . 6. Ultra-low-flush toilets: 1-1/2-gallon per flush toilets be installed in all new construction. Exterior:- 1. Landscape with low water-using plants wherever feasible. 2. Minimize use of lawn by limiting it to lawn-dependent uses. such as playing fields. When lawn is used. require warm season grasses. I i I , 3. 4. Group plants of.similar water use to reduce overirrigation of low-water-using plants. Provide information to occupants regarding benefits of low-water-using landscaping and sources of additional assistance. i ( -The Department of Water Resources or local water district may aid in developing these materials or providing other information. . - . A ," Il o o 5. Use mulch extensively in all landscaped areas. Mulch .applied on top of soil will improve the water-holding capacity of the soil by reducing evaporation and soil compaction. 6. Preserve and protect existing trees and shrubs. often adapted to low-water-using conditions and needed to establish replacement vegetation. Established plants are their use saves water 7. Install efficient irrigation systems that minimize runoff and evaporation and maximize the water that will reach the plant roots. Drip irrigation. soil moisture sensors. and automatic irrigation systems are a few methods of increasing irrigation efficiency. 8. Use pervious paving material whenever feasible to reduce surface water runoff and to aid in ground water recharge. 9. Grade slopes so that runoff of surface water is minimized. 10. Investigate the feasibility of using reclaimed waste water. stored rainwater, or grey water for irrigation. '2. 11. Encourage cluster development. which can reduce the amount of land being converted to urban use. This will reduce the amount of impervious paving created and thereby aid in ground water recharge. 12. Preserve existing natural drainage areas and encourage the incorporation of natural drainage systems in new developments. This aids ground water recharge. 13. To aid in ground water recharge, preserve flood plains and aquifer recharge areas as open space. ::!' . ~ . o o -I' ) ,. I - FLOOD DAMAGE PREVENTION In flood-prone areas. flood damage prevention measures required to protect a proposed development should be based on the following guidelines: 1. It is the State's policy to conserve water; any potential loss to ground water should be mitigated. 2. All building structures should be protected against a lOO-year flood. 3. In those areas not covered by a Flood Insurance Rate Map or Flood Boundary and Floodway Map, issued by the Federal Emergency Management Agency, the lOO-year flood elevation and boundary should be shown in the Environmental Impact Report. 4. At least one route of ingress and egress to the development should be available during a lOO-year flood. 5. The slope and foundation designs for all structures should be based on detailed soils and engineering studies, especially for hillside developments. 6. Revegetation of disturbed or newly constructed slopes should be done as soon as possible (utilizing native or low-water-using plant material). 7. The potential damage to the proposed development by mudflow should be assessed and mitigated as required. 8. Grading should be limited to dry months to minimize problems associated with sediment transport during construction. .... - o 0 Response to Comments from: State of California. Department of Water Resources (dated March 27.1989) Bl The "Department of Water Resources Recommendations for Water Conservation and Water Reclamation" more appropriately address individual project design as opposed to the broader scope of the General Plan. However, the General Plan does iilclude policy and programs for encouraging water conservation and the following information will be added to Section 4.221.4 'Water Supply, Mitigation Measures" of the Em.: ''In addition to addressing the concerns of adequate water supply and transmission, the Utilities Section of the Draft Plan addresses the issue of water conservation with policy 7.6.8 and implementation program 17.18. That program states that the Municipal Water Department will administer a program of public education regarding the benefits of water conservation. These issues are also addressed in Section 11.0 of the Draft Plan: Energy and Water Conservation. In that section, policies 11.1.1, 11.1.2, 11.1.13, and 11.1.14 and associated implementation programs 111.1, 111.3, 111.4, 111.6, 111.13, and 111.14 encourage the incorporation of water conservation features in the design of all new construction and site development, and direct the City to work with other cities to develop a strong state- wide water conservation policy." B2 With respect to the use of reclaimed water, the following information will be added to the EIR, Section 4.2.21.4 'Water Supply, Mitigation Measures": "To further facilitate water conservation, it is recommended that the following be included as a policy of the Draft Plan: Encourage the use of reclaimed water for landscape irrigation and other non-contact uses for industrial projects, golf courses, and freeways." , o o c .'.1 dl!r- 00 & rr:: ,.,., ~ ~~ O j... " ~,', ~ .;' . '" '... -:z!;iJ~ f:i L2.J SAN BERNARDINO CITY UNIFIED SCHOOL DISTFUC'l AFR 04 1989 (714) ;!BZi'l=1?9":"'r ~__.__ SAj~: S~~.~:::'l.~;:~'...~. i; .~.~~:iT . ...~'..~. r..' March 31, 1989 . . Platlning. and DeveZopment All r,t"r,1 FROM THE DESK OF SCOTT SHIRA 1/1/ To: Mr. Brad Kilger, Director of Planning Subject: Draft Environmental Impact Report for the City of,San Bemardino General Plan " . I believe the underlined statement on page 4-150 is incorrect and should I reference ,the San Bemardino City Unified School District. ". .:",;' ~.:;. . ..... '.' .... :'," : I. . /.~ c 0-' budget cuts have limited the ability of the Districts to constrUct these new schools and revenue generated from developer fees (Assembly Bill 2926) are an inadequate supplement. 4.2.3.3.2 Project Impacts Given maximum buildout of the Draft Plan, 16,028 housing units would be added to the housing stock of 1987. 'This would be expected to generate 14,168 additional students, based upon student generation factors supplied by the San Bernardino City Unified School District (Table 20). 'This 38% increase students residing in the City would be expected primarily where the greatest increase in housing will occur: in the downtown area of recycled and intensified housing, and in the major infill areas of the northwest quadrant. 'This will result in impacts on the Rialto Unified School District as well as the San Bernardino City School District. I 4.2.3.3.3 Cumulative Impacts ~ . ~".. s.",. hJ." ;:2~{ PSI. ~ ,;",tI4O The exP~~Q~.-Q.LthlUtudent population in t.1LQ.ty....Q ~_Bernardino will have its ,. greatest cumula~ imp'!f!...En the Rialto Unifiec! Sc.'lool Dist:ri~. because of this District's proximity to areas of future development. Based upon San Bernardino City School District's generation factors, the proportion of students from San Bernardino attending RiaHo could increase by as much as 70'l"0, further aggravating Rialto's current overcrowding problem. Other adjacent school districts may be affected as well, however, to a lesser degree: Colton Joint Unified. School District is not adjacent to any major housing intensification areas and Red1ands Unified School District is adjacent to an area of future industrial/ commercial development. 4-150 "" o 0 Response to Comments from: San Bernardino City Unified School District (dated March 31. 1989) a The discussion in question in the EIR was referring to the impact on adjacent school districts. For purposes of clarification, the following information (now included in Section 4.2.3.3.3 "Cumulative Impacts, Education" of the EIR) will be added to Section 4.2.3.3.2 "Project Impacts, Education": 'With respect to adjacent school districts, the expansion of the student population expected to result from buildout of the Draft Plan would have its greatest impact on the Rialto Unified School District due to this District's proximity to areas designated for future development. Based upon San Bernardino City School District's generation factors, the proportion of students from San Bernardino attending Rialto schools could increase by as much as 70%, further aggravating Rialto's current overcrowding problem. Other adjacent school districts may be affected as well, although to a lesser degree: The Colton Joint Unified School District is not adjacent to any proposed new or intensified residential areas and Redlands Unified School District is adjacent to an area of future industriall commercial development." The following information will be added to Section 4.2.3.3.3 "Cumulative Impacts, Education": 'There are five school districts which serve the cities and communities within RSA-29: San Bernardino City Unified, Rialto Unified, Colton Joint Unified, Redlands Unified, and Yucaipa Unified School Districts. Based upon generalized average student generation factors per household (0.30 for elementary, 0.12 for intermediate, and 0.12 for high schools) and 271,028 dwelling units in 2010 for RSA- 29, a student population of 146,352 would be expected. (This estimate would be considered to represent a worst case scenario since some housing units may have been double-counted (refer to Table 4).) Since the exact location of these projected housing units with respect to school district boundaries cannot be known at this time, it is not possible to determine the impact on the districts. However, new schools, or reopening of previously closed schools, would probably be needed to avoid overcrowding at existing facilities." ..., - '. o 0 DEPARTMENT OF THE ARMY LOS AHGlLlES DISTRICT. COAPS OF (NGINURS Pf) 80.2711 LOS ANGELES. CALIFORNIA IOOSJ.2325 L;.J.-J L/J C(..,~ .' April 6, 1989 D AEP\Y TO Office o'f"'/:'lPI1Othief Environmental Resources Branch ..... '., iiif; 13 i9a9 ; I --::t ,;II~ WJ : :) . , Mr. Vincent Bautista City of San Bernardino Planning Department City Hall 300 North "D" Street San Bernardino, California 92418 ~~l;: :.', .... ~'~:-::~r.:?-:\ ,,:,.~ '1 '''~'' .:" :_.... '4:c.;.~T .......,. ;;';'~.""'" :-":~J, C.l Dear Mr. Bautista: We have reviewed the ~~.:_- of Preparation of a Draft Environmental Impact Report (DEIR) for the City of San Bernardino General Plan Program, dated February 1, 1989. The notice requests information about our responsibilities involving the proposed project. Our responsibilities include investigation, design, operation and maintenance of water resource projects, including preparation. of environmental guidelines in the fields of flood control, navigation and shore protection. We are responsible also for administration of laws and regulations against pollution of the waters of the United States. we believe the forthcoming document should address the above-listed responsibilities. Work in waters of the United States might require a permit under Section 404 of the Clean Water Act or Section 10 of the Rivers and Harbors Act. We :L cannot determine from the submitted information the extent of the Corps' juriSdiction over this project. Please give our Regulatory Branch documentation that clearly describes the area and extent of any proposed work in watercourses and adjacent wetlands to help us make that determination. If the proposed project involves any Federal assistance through funding or permits, compliance with Section 106 of the National Historic Preservation :3 Act of 1966, as amended (16.U.S.C. 470f) and implementing regulations, 36 CFR 800, will be required. Your general plan should reflect the fact that there will be a floodway On the Santa Ana River between Seven Oaks and Prado dams. Your local flood 4... control sponsor will manage the floodway in accordance with Federal Emergency Management regulations. III ') o o .. . -2- We will appreciate an opportunity to review and comment on the proposed I ~ DEIR when it is issued. Sincerely, ~ ....._~ 'Z:.;11....1 . J "",~bert S. Joe .1 "Chief, Planning Division . - o o Response to Comments from: Department of the Army. Los Angeles District Corps of Engineers (dated April 6. 1989) Dl The topics listed in this comment are included in the following sections of the EIR: Section 4.2.2.1: Water Supply; Section 4.2.2.3: Sewage Disposal; Section 4.4.2: Flooding; and Section 4.4.3: Hazardous Materials/Uses. D2 The EIR is not addressing any particular site-specific projects at this time. Should any future projects in water courses or adjacent wetlands be proposed, the Corps would need to be contacted at that time. D3 The proposed project, the General Plan itself, does not involve any such federal assistance. However, should federal assistance be involved in a particular site- specific future project, compliance with the National Historic Preservation Act and implementing regulations would be required at that time. D4 This comment addresses the content of the General Plan and not the EIR. D5 This letter addressed the Notice of Preparation for the EIR. The EIR itself was subsequently published March 27, 1989 and is available for review from the City of San Bernardino. . . " . o o ,-"---"", ..~ .: -.., . I~, ,\ 7""\ f.... .~:;....:.. '~ ...~\';"'t.. r~-'/' """\ _..r' . Y ',,,:A 0:-' -~...: .- ,_~\ /;:...1. -. ....-:.,..~,.,. /;- \::" C I T Y ,-t _. _ ..... ".'"' ~_..' - .-11 1-.",. ~.. . - ,.:.'~rl '-I !~~t=-l.-:--"::>,..; Ill:'" 5 :.. ", ,.:....c..--- .' "_ ,,,,,,-,{,:/:/~'>:.:.\'v'~:-'. an ~t;1 .,.. ."_:....~~::-..... ~~ E o F t)E-'-"" '1="':""< _,'.. .1-_' ~ ..........,r Bernardino APR 1 ~l 1989 ~,"!'i'~ t':'....., '-', d~"'. .' -~~.QllltI'!:,.............. PLANNING DEPARTMENT April 10, 1989 Mr. Joseph Gibson Director of Environmental Services ENVICOM CORPORATION 4764 Park Granada, Suite 202 Calabasas Park, CA 91302-1593 Dear Mr. Gibson: As you know, the Planning Department is currently reviewing the Draft Environmental Impact Report and will be preparing comments as to its adequacy. We have verbally indicated to Janis Dworkis that we would be providing comments as we review the DEIR so that you can begin responding to them. We have discovered that a major shortfall of the DEIR is that policies, development standards and implementation measures are used as mitigation but the specific policies, standards and measures are not identified. The reader must take your word for it without being given the evidence to either agree or disagree with the conclusion. There is no traceable relationship between the mitigation and the conclusion. For example, on Page 4-40 the DEIR states "Policies are defined to mitigate potential impacts of noise, odor, light and glare, height and bulk, vehicular access, and functional activity where dissimilar uses are located adjacent to one another." The policies mayor may not do this; however, we cannot verify it because we do not know to which policies they are referring. These kinds of undocumented conclusions are stated throughout the DEIR. We realize that correcting this problem will require many hours of work, therefore, we are notifying you at this early date of our concern. Please begin correcting this problem immediately. Any time the DEIR indicates that an impact will be mitigated by policies, standards or measures in the Plan, they must be referenced. We want this done consistently throughout the EIR. A different concern we have is that the public hearings currently underway will result in changes to policies, standards and measures. How will this affect conclusions \ , , , \~ 300 NORTH "0' STREET, SAN BERNARDINO. CALIFORNIA 12411.0001 7'.."......, PRIDE -I "IN PROGRESS ~~...~f .- ~ ." .. o o Mr. Joseph Gibson April 10, 1989 Page 2 that impacts will be mitigated? An analysis of the changes made to the General Plan will need to be part of the Final Environmental Impact Report. We would like you to be think- ing about this during the hearings and be prepared to address ~ this during and after the hearings. If changing certain policies, standards or measures will require major environ- mental analysis or significant changes to the DEIR, we need to be apprised of this situation. If you have any questions or comments, please call me at (714) 384-5057. Thank you. c_~ Director of Planning mkf o 0 Response to Comments from: City of San Bernardino Planning Department (dated Apri110.1989) EI The proposed changes to the EIR which provide information concerning specific policy and program references are indicated on the following pages. This information will more clearly relate the policies contained in the General Plan that mitigate impacts identified in the EIR. This additional information will enable the reader to use the General Plan document to locate the specific wording of policies or programs discussed in the EIR, as desired. E2 The Final EIR will acknowledge changes made by the Mayor and Council during the public hearing process to the General Plan by relating significant changes to impacts associated with either the proposed action or the alternatives. General Plan changes to be considered must result in a physical change to the environment. Discussion of relative impact during the public hearing will advise the Mayor and Council wheth- er the potential change is within the scope of the proposed action and alternatives. If the change is not within the scope of analyzed impacts, the recommendation will be made not to make the change; if the change is made over the recommendation, the consequences of the change will be verbally discussed at the hearing. Additional analyses may be required to evaluate impacts beyond those discussed in the DEIR. .,. - o o 20. Land use development is impacted by the presence of significant environmental resources and hazards. The mountain foothills contain extensive and important riparian habitats and scrub lands. The Santa Ana River, Cajon Creek, Lytle Creek, and tributary drainages contain significant habitat and pose a flood hazard for development. The City is crossed by the San Andreas and San Jacinto fault systems and a large area is subject to a high liquefaction potential. The northern portions of the City are impacted by a high wildfire and wind hazards. 4.1.1.2 Project Impacts The Land Use and Urban Design Element of the Draft Plan contains 348 policies (Table 5) and 23 pro~ams for policies implementation. These policies and pro~ams regulate how land in the planning area is to be utilized. Thus. this element has the broadest scope of the State required elements. Most of the policies contained in all other plan ele- ments are integrated into and synthesized by the Land Use and Urban Design Element. All ~oals. obiectives. policies and implementation pro~ams in the Land Use and Urban Design Element are organized to address 12 land use issues: L. What types and amounts of land use should be accommodated in the City? 2. How should land uses be distributed throughout the City? J:. What should be the functional role. uses permitted. and physical form and character of the City's land use districts? .L What should be the future role and character of Norton Air Force Base? .2.:. What should be the future role and character of the railroad yards? 4-37 o o ~ How should buildin~s in the City be maintained? 7. What should be the physiS;al and visual Quality of development? .a.. How should develo,pment be linked with the provision of supportinl: infrastructure? 2.. How should development be related to the Qty's environmental resources and haz- ards? 10. What should be the relationship of land use develo,pment to public safety? 11. What lands should be annexed to the City and what should be their priority? 12. How should the public continue to participate in land use decisions? Policies and programs associated with the first three of these issues are the primary de- terminants of the future nature and distribution of land uses in the plannini area. In particular. policies determining the functional role. uses permitted and physical nature of the land use districts are structured as follows: Policy' Pw:pose 1.x.10-19 Description of permitted uses for residential. hillside man- agement. commercial. office industrial park. industrial and public designations. These policies also describe density and h~ight restrictions for residential and hillside management designations. . x = numbered objective (8-38) corresoondin~ to eoals of the Land Use and Urban Desi~ Element. 4-37A .... . o 0 l.x.20-29 Description of density /intensity (e.~.. floor area ratios) and height of structures for commercial. office industrial park, industrial and public designations. 1.)(.30+ Design and development ~delines for residential, hill~i9~ management. commercial. office industrial park. industrial. and public designations. Table 7a provides a matrix for determining s.pecific policy numbers describing permit- ted uses. density/intensity, and design standards for residential (low density. multi- family and senior/congregate care) commercial (~ion-servin2. community-serving in- cluding five specific areas. neighborhood-serving. office and heavy). office industrial park. industrial. and public uses. Table 7a can be referred to throughout the following discussion of land use impacts whenever the reader desires specific policy number ref- erences. Implementation of the policies aRS stansllfEi:; of the Draft Plan (particu1arlv policies 1.1.xx-1.38.xx describing permitted uses. location of uses. density/intensity and design and development guidelines) will result in the (a) preservation of existing residential neighborhoods and commercial and industrial districts which are physically and economically stable and of value to the community, (b) preservation, enhancement, and expansion of public uses and parklands, (c) development of vacant lands for residential, commercial, industrial, public, recreational, and other uses, (d) infill of vacant parcels within existing districts and neighborhoods with similar uses, (e) intensification of the intensity/density of development in areas characterized by physically and economically deteriorating uses and mixed patterns of development, and (f) recycling of areas of mixed use for a consistent use. Development in accordance with the Draft Plan (Figure 4) will result in the construction of an additional 26,028 residential units, containing a population of 65,070 persons, 36,470,175 square feet of commercial use, and 50,774,408 square feet of industrial use. 4-37B ... ~ o o TABLE 7a Correlation of Plan Policies with Use, Density, and Design Policv and Guidelines Land Use Permitted Use Densitv /lntensitv Desi~ Residential Low Density 1.9.10, 1.10.10, 1.9.10,1.10.10, 1.93()"33, 1.10.3()"33, 1.1 1.10, 1.14.10 1.11.10,1.14.1()"14 1.113()"32, 1.1430-91 Multi-Family 1.12.10, 1.12.11, 1.12.10,1.12.11, 1.1230,1.1231, 1.13.1()"13,1.16.12, 1.13.1()"13,1.16.21, 1.1233-35, 1.16.13,1.22.12 1.22.21 1.133Q..40, 1.22.34 Senior/Congregate 1.12.11,1.13.13, 1.12.11,1.13.13, 1.28.35 Care 1.16.14,1.22.13, 1.16.21,1.22.22, 1.28.12 1.28.21 Commercial Region-Serving . Retail 1.15.1()"11 1.15.20 1.153()"37 . Downtown 1.16.1()"17 1.16.2()"23 1.163()"34 . Tri-City / 1.17.1()"13 1.17.20 1.173()"38 Commercenter / Cub . Auto Plaza 1.18.10 1.18.20 1.18.3()"31 Community-serving . General 1.19.1()"11 1.19.2()"21 1.19.3()"35 . Highland "Core" 1.20.1()..11 1.20.20 1.20.30-35 . "E" Street Corridor 1.21.1()"12 1.21.20 1.213()"33 . Mount Vemon- 1.22.1()"13 1.22.2()"22 1.223()"34 Base Line . University Village 1.23.1()"11 1.23.20 1.233()"33 . . Specialty/Theme 1.24.1()"15, 1.24.20,1.25.20 1.243()"36, Center 1.25.1()"1l 1.253()"35 Neighborhood-serving . General 1.26.1()"1l 1.26.20 1.26.3()"35 . Verdernont 1.27.10 1.27.20 1.273()"33 Office 1.28.1()"12, 1.28.2()"21, 1.29.20 1.283()"35, 1.29.1()"11 1.293()"32 Heavy 130.10,131.10 130.20, 131.20 1303()''31, 1313()"34 Office-Industrial Park Industrial Light 132.1()"12 1.32.20 1323()"32 Heavy 133.1()"11 1.33.20 13330-31 Extractive 134.1()"11 N.A. 13430-32 Public CommeK~IRecreation 135.10, 136.1()"11 135.20,1.36.20 1353()"31,1.36.30 Public 137.1()"14 137.20 13730-31 Public Flood Control 138.1()"11 N.A. N.A. - o o Table 8 indicates the increases in development which will occur on buildout of the Draft Plan. In addition, public uses, including governmental administrative and service facilities, schools, parks, cultural facilities, and similar uses, will be expanded in the planning area. These specific locations are not depicted in the Draft Plan, because of the potential for property condemnation for public use. However, policies and standards contained throughout the Draft Plan (e.g.. 1.37.10-1.37.14, 1.37.20, 1.37.30. and 1.37.31) provide for their development and distribution. For example, the Draft Plan establishes an objective (Objective 9.1) for an additional 507 acres of parklands to serve existing and future residents. Street and highway improvements, including new rights-of-way, will occur in the planning area in accordance with the Draft Plan's Circulation Master Plan of Highways. Other infrastructure improvements, such as utility easements and flood control improvements, will occur on lands in the planning area, though their specific locations will be determined by subsequent planning and land acquisition activities. De'lelepffieRt iR aeeeFBanee vlitft !he Draft P-lan peliey will Implementation of the Draft Plan would be expected to result in the following impacts on the planning area's land uses: 1. Or~anization and Character of Land Use a. Land use districts will become more clearly distinct due to the limitation of uses and establishment of precise development standards for commercial, industrial, and residential sub-areas of the City. For example, specific community-serving commercial areas, such as the Highland Avenue "Core" between "E" Street and Waterman Avenue and the Mount Vernon "ethnic themed village" between 4th and 8th Streets, will be developed (per policies 1.20.10, 1.20.11, 1.20.20, 1.20.30-1.20.35, 1.24.10-1.24.15,1.24.20, and 1.24.30-36) with a specific set of uses and in accordance with architectural and site design guidelines which differentiate these from other commercial corridors and districts. Region-serving commercial centers are differentiated by use, intensity, and design; e.g., the downtown containing a high density mix of governmental and professional offices, convention and hotel facilities, 4-39 ... o o cultural uses, and residential with pedestrian oriented amenities versus the Tri- City /Commercenter area which will contain a mix of corporate offices, research and development uses, and supporting retail and restaurants located in an extensively landscaped, park-like setting. Each of these, as well as the other key districts and neighborhoods identified by the Draft Plan, will exhibit its own unique "personality" and design character. b. Within each use district, implementation of Draft Plan policies and standards will result in greater homogeneity among land uses and development. This will be particularly evident in the southeast, in the areas between Norton Air Force Base and Interstate 215, where the current pattern of mixed industrial and residential uses will be replaced by a consistent and uniform pattern of light industrial and office- industrial park uses. In the southwest, in areas adjacent to the railroad yards, the current mix of residential, light and heavy industrial, and commercial will be replaced by more consistent and uniform patterns of these uses. In older residential neighborhoods between Highland Avenue and downtown, areas of a substantial mix of single-family residences, duplexes, and apartments will be replaced by consistent and uniform patterns of medium and medium-high density apartments and condominiums. c. In general, development in accordance with the Draft Plan will improve the compatibility among land uses. Policies (particularlv those specifying "design and development guidelines") are defined to mitigate potential impacts of noise, odor, light and glare, height and bulk, vehicular access, and functional activity where dissimilar uses are located adjacent to one another. In the southeast of the City, residential areas subject to the high noise impacts of Norton Air Force Base will evolve to uses which are not noise-sensitive (e.g., light industrial and office- industrial parks). In other high noise areas, the development of new sensitive uses will be prohibited unless adequate mitigation can be implemented and existing such uses will be buffered by the installation of noise-attenuating wails and other elements, where feasible. The Draft Plan, further, establishes limits on noise 4-40 ".. - o o generation by uses. Where dissimilar land uses abut one another (e.g., residential and commercial), the Draft Plan provides (via policies and programs in both the Land Use and Urban Design and Noise Elements) for the implementation of buffers, property setbacks, height and bulk setbacks, and other elements, requiring project by project review to ensure their adequacy. The development of a more homogeneous land use pattern, as described above, will reduce impacts that accrue to mixes of dissimilar uses. Compatibility impacts could result from the introduction of residential use in the downtown area (allowed per policy 1.7.'7>. either vertically integrated into structures whose lower levels are used for commercial or horizontally distributed. These include potential conflicts of functional activity (i.e., commercial uses characterized by high customer use versus low activity, private housing), noise, light and glare, vehicular access, and public safety. Draft Plan policy requires individual project review in these instances to provide adequate mitigation of any potential impacts. The Draft Plan will allow for the introduction of residential uses in areas of commercial development. In the Mount Vernon/Baseline areas, this is intended to reduce overall commercial capacity. In the downtown area, this is intended to create a more active mixed use environment. In these instances, impacts may occur at the interface of commercial and residential land use, e.g., noise and functional conflicts. In response to these potential impacts, the Draft Plan includes policies that address siting of structures, buffers, density and floor area ratios, parking, architectural character, landscaping, and mitigation of noise, traffic, and lighting associated with commercial structures. d. The general quality of development and construction will be improved by implementation of the Draft Plan's policies and standards. Among these are architectural design guidelines which mandate the avoidance of anonymous, undifferentiated "stucco-boxes" and establish a "pedestrian-oriented" character in the ground elevation of commercial structures in key activity areas of the City and 4-41 o o requirements for the extensive use of on-site landscape and amenities. e. Development in accordance with the Draft Plan will increase the overall intensity and development in the City. This will change the character of some of the City's districts from suburban to urban and rural to suburban. The greatest intensities will be realized in the areas immediately within and abutting the downtown, Tri- City /Commercenter area, Waterman Avenue Office Industrial Park and Regional Opportunities Corridor. Many of these are suburban in intensity and character and will evolve to a higher urban use. Similarly, peripheral areas in the foothills and to the west will evolve from rural to suburban densities. 4-41A '\:3. - Wl o o 4.1.2.2 Project Impacts a. Housinl Ouantity and Affordability California law requires that the City make provision for adequate numbers of new and rehabilitated housing units to accommodate a share of projected population growth. It also requires that the City adopt policies to assist in making a portion of these new and rehabilitated units affordable to low and moderate income households. To allow for growth in housing, the Draft Housing Element promotes the production of new housing units on currently vacant or under-utilized land (policy 2.1.1, implementation pro~ram (I) 2.1), permits homeowners to construct second units on properties in neighborhoods designated "RU" (policy 2.1.2, 12.6), and provides for residential and commercial mixed-use development in the downtown area of the City (policy 2.1.3, 12.1). Over the next 20 years, of the Draft General Plan will allow for the development of an additional 23,206 units (with densities ranging from one to 36 dwelling units/net acre) on 8,496.7 acres of land within City limits distributed as shown on Table 9. If production of these 23,206 units were evenly distributed over the 2o-year period, approximately 6,505 units would be added every five years. In the first five years this production level would represent a 12.1% increase in total housing units, a decrease from the 26.3% increase experienced between 1980 and 1988. The 1988 Regional Housin~ Needs Assessment, prepared by the Southern California Association of Governments (SCAG), allocates a share of estimated growth in housing demand to each community in its jurisdiction. For the period 1989 to 1994, San Bernardino's share of regional housing growth is estimated at 8,021 units distributed as follows (no SCAG estimate for units needed in 2010 is available): 4-57 -... o o Maximum housing buildout under the proposed Plan would result in a slight decrease in the ratio of single- to multi-family housing. Distributions (1988) by housing type (with mobile homes considered as single-family) are as follows: ~ Number Percent Single-family 39,463 67.4% Multi-family 19,108 326% Total (within City of 58,571 100.0% San Bernardino) Assuming that the percentage of mobile homes remains constant at 6 percent, the ratio of single- and multi-family units would have changed only slightly, with an increase in the share of multi-family dwelling units: ~ Number Percent Single-family 51,332 62.8% Multi-family 30,435 37.2% Total (within City of 81,767 100.0% San Bernardino) ~raft General Plan l"elieies policy 2.4.4 and implementation programs 12.24 and 12.25 would contribute to the preservation of existing residential housing by requiring the upkeep, maintenance and rehabilitation of existing housing consistent with the requirements of the City's building code. The Plan provides that the Oty continue to .. . offer financial assistance for housing rehabilitation to eligible owners of rental units with low~income tenants (policy 2.4.1, 12.10 and 12.13), to low income homeowners to bring older single-family dwellings into conformity with the City's building code (poli- cy 2.4.2. 12.9), and, through a new program, to buy and rehabilitate abandoned houses for resale to eligible low and moderate income households (policy 2.4.3. 12.23). 4-60 I o o In addition to the financial assistance provided for the rehabilitation of existing housing stock, policies of the Draft Housing Element provide for the City to facilitate the production of affordable housing through support for nonprofit housing developers (policy 25.2. 12.27. 12.28. and 12.32>' a 25% density bonus (or equivalent financial value) to residential developers who provide a prescribed number of low income units (policy 2.5.1 and 12.18). and a program to reduce fees and review development standards for infill housing projects (POlicy 2.5.3. 12.22). The Draft Housing Element I'raviaes far the ae\oelel'ment af permits shelters for the homeless by conditional use permit in areas of the City designated RM, RMH, and RH, and downtown in areas designated CR-B2 (policy 2.7.7. 112.30). The Plan proposes that the City assist in efforts to increase funding available for shelters (policy 2.7.2. 12.31, 12.32) . Housing Element policies would also require (1) that a portion of units built with City assistance be designated for large families (policy 2.7), (2) that City assistance be directed to the construction of housing rehabilitation for low income seniors in an amount commensurate with the number of low-income elderly in the population (poli- cy 2.7.4, 12.26), and (3) that a density bonus be made available to developers of projects serving adults SS ana allier senior adults (policy 2.7.1. 112.1. 112.19). In addition, publicly assisted housing units would be accessible to the handicapped in conformity with Title 24 of the uniform building code policy 2.7.5, 12.16). The HetiSiRg BleH\eRt af the revisea PlaR Policy 28.1 (and implementation plan 12.34) proposes that the City attempt to reduce any housing discrimination by enacting fair housing legislation that prohibits all discrimination in housing based on race, ethnicity, national origin, age, religion, sex or family status (presence of children). SCAG estimates that 4,823 additional units would need to be built within the City of San Bernardino to accommodate the needs of low and moderate income households by 1994. However, the "market" can no longer produce housing affordable to lower 4-61 ...... o o income groups, particularly to those earning less than 80 percent of the median income and a large public subsidy would therefore be required to make housing affordable to these households. Resources allocated by the City for this purpose are sufficient to produce only 10 percent of these units over the next five years. b. Housinll Distribution The Land Use section of this EIR (Section 4.1.1) describes the impacts on the pattern of residential development and existing residential neighborhoods. Generally, these con- clude that (1) existing economically stable and physically sound residential neighbor- hoods will be preserved; (2) dilapidated and mixed-density neighborhoods will evolve to higher densities; (3) residential areas subject to high noise impacts attributable to Norton Air Force Base will evolve to non-residential uses; and (4) peripheral vacant and rural lands will be more intensely developed for residential uses. The overall result of the changes (amon~ others) would be a reduction in the amount of affordable housing. as also discussed above). 4.1.2.3 Cumulative Impacts Development in accordance with the Draft General Plan will increase the local and re- gional housing supply. Its percentage of the regional total will decline over time as the City's ultimate ''holding capacity" is attained and peripheral areas develop. 4.1.2.4 Mitigation Measures As existing housing units are displaced for higher density or other uses, the City shall require that relocation assistance is provided in accordance with the California Uniform Relocation Assistance Act. The City shall monitor state and federal programs and in- crease funds, as available, for assistance in the provision of housing for low and moder- ate income households. 4-62 ~ . - o o 4.1.2.5 Level of Environmental Significance Due to the reduction in the amount of affordable housing expected to result from implementation of the Draft Plan, impacts are expected to be significant, and not avoidable within the scope of the Plan (Class I). 4-62A -- . - Jl. . .~ o o The planning area also contains three historic parks viz.; the Campo Santo Memorial Park, Pioneer Park and Meadowbrook Park. 4.L3.2 Project Impacts The Draft PIe sets fertfi "elides Policies 3.1.1-3.1.14. 3.2.1-3.2.7. 3.3.1-3.3.8. 3.4.1. 3.4.2. 3.5.1-3.5.8. and 3.6.1-3.6.4 are set forth in the Draft Plan to minimize the disruption of prehistoric and archaeological resources. These policies provide for a program of inventory and identification of the significance of these resources (implementation pro- gram (1)3.1 and 13.22) and for the enactment of a City ordinance to require the extensive environmental review procedures as per the California Environmental Quality Act (13.2 and 13.22). f.ddiseaal "elides ef the Draft Pie tafget tfie "resef'\'8.sea ef histeFieal reSelUee5. TM:se pslides inelaae: lfte 8~'elel'lMftt sf a e8mprdtensive plan eased ttp8ft farther sm-/ey; estaBlishment sf an at-may 28ae anti an 8a7isery eeay t8 aveFsee iRe de<lele"lfteftt ef gttidelilu:s, "rejeet re-Jie\';, ana tfie aae"ti&fl af i!8ning sttlftaaras; pr8mBa8a of ooBllftU.mty H\vsl-,;ement and pre-Jisisa fer ineef\HveS te r~,;iti1H-e ,'.i:\ile preteesRg Natarie reaaW'eea aftd ftet dis"ladftg the eeenemieally Eiisaa7aRtagea. Additional policies and implementation programs of the Draft Plan tar~et the preservation of historical resources. Policies 3.1.4. 3.1.9 and 3.1.10 and programs 13.3. 13.6. 13.21 and 13.22 provide for the establishment of an Historic Preservation Overlay Zone. with an associated advisory body to oversee the development of ~idelines. project review. and adoption of ap,propriate zoning standards. Policies 3.3.1-3.3.8 and programs 13.2. 13.12-13.14. and 13.16-13.18 promote community awareness and involve- ment in historic preservation. The Plan also includes policies and programs that focus on incentives to revitalize while protectin~ historic resources and not displacing the economically disadvantaged (policies 3.5.1-3.5.8. 3.4.1. and 3.4.2: implementation pro- grams 13.5.13.7.13.10. 13.18-13.21. and 13.23). 4-68 -'" - ~ ~ . -11 o o It should be noted that even with the policies and programs of the Draft Plan implemented, significant adverse effects to archaeological and historical resources may still occur: Previously unknown archaeological sites may be encountered during new project construction, especially in areas of the mountain foothills and canyons, and in the Shandin Hills. Similarly, every older and potentially significant building in the developed areas of the City can legally be replaced by another or there may be overnding concerns such as public safety which necessitate building demolition. The Draft Plan does, however, provide a maximal level of protection for these resources which can be considered legally acceptable. Moreover, the historic preservation element of the Draft Plan sets up a process by which the City's historical and archaeological resources are identified, design standards and review procedures are established, and an ordinance is enacted to protect these resources. Where potential conflicts with resource protection arise because of increased allowed densities or land use changes, the City has options to down-zone these areas and/or establish Historic Districts or Overlay Zones with consequent development standards. These actions will enable the City to become certified by the State Office of Historic Preservation, thereby insulating the City against legal charges of arbitrary and unfair land use decisions related to historic preservation. 4.1.3.3 Cumulative Impacts Planned developments in surrounding communities will not pose direct impacts on cultural resources in San Bernardino. However, with increased development in SCAG's RSA-29, increased air pollution and pollution may indirectly impact historic buildings and monuments through additional exposure to undesirable or harmful pollut~ts and/or increase use or access by the larger population. Similarly, increased development in the planning area could indirectly impact historic buildings and structures located elsewhere in RSA-29. 4-69 o o 4.1.3.4 Mitigation Measures To more effectively implement the City's program of certifying historic resources, implementation program 13.4 ("the City shall adopt ~fic criteria for determining the si~cance of historic resources and develo.pment of a certification pr~am for Histor- ic Points of Interest. sites. structures. and Districts.") should be amended to provide for the notification of owners when significant resources are identified on their property, together with explanation of the benefits and constraints that this condition represents. 4.1.3.5 Level of Environmental Significance Because previously unknown archaeological resources may be discovered during new construction projects, and because historical resources may be lost as a result of concerns such as public safety, potentially significant and unavoidable adverse (Class 1) impacts may occur. 4.1.3.6 Unavoidable Adverse Impacts Implementation of the proposed Plan will include impacts which may become adverse impacts such as: 4-69A tC . o o ments are in place in advance of development. However, it is unlikely that the City would implement improvements until such time as they were necessary to respond to buildout.) Figure 9 displays the location of the roadway segments which are forecast to be most significantly impacted by buildout of the Draft Plan. This figure illustrates that the impacts are forecast to occur primarily along "E" Street from 1-10 to Base line Street and south of 1-10, Waterman Avenue from 1-10 to Mill Street, plus segments of Sierra Way, Inland Center Drive, Mt. Vernon Avenue, Fairway Drive and Orange Show Road. Traffic on these road segments would be expected to experience unstable flow, lowop- erating speeds, severely limited ability to maneuver and possible queue formation. The Traffic and Circulation Section of the Draft Plan includes specific policies 6.1.1- 6.1.14) addressing the roadway impacts expected to result from buildout of the Draft Plan. Most of these policies require the Oty and developers to work together to imple- ment improvements including the roadway reclassifications described in Table 14, and- provide mechanisms to implement improvements. However, implementation of two of the policies may not be feasible. These policies are: Policy 6.1.11 Correlate approval of new development with roadway improve- ments that would be necessary to either maintain a "C" level of ser- vice (a volume-to-capacity ratio of 0.79 or less) and other perfor- mance characteristics applicable to the classification of the affected roadways or reduce the development's impact to below City estab- lished levels of significance, and that development not be autho- rized until measures are in place to construct any necessary im- provements, provided that the development is guaranteed an equi- table reimbursement for improvements provided above and be- yond those solely necessary to accommodate that development's traffic. 4-103 ..., o o possible, the improvements should be directly related to specific development projects through the use of traffic studies, fees, and exactions. The following Policies, in addition to 6.1.11 and 6.1.14 discussed above, specifically guide the City in developing the proposed Circulation System: · The City shall annually review the functioning of the street system as part of the Capital Improvement Program to identify problems and shall actively pursue implementation of improvements identified as needed in a timely manner policy 6.1.1; implementation program m6.1). · Require that all City streets be constructed in accordance with the Circulation Element Functional Ciassification Map and the construction standard established by the Director of Public Works/City Engineer (policy 6.1.2; 16.2. 16.11). · Require appropriate right-of-way dedications of all new developments to facili- tate construction of roadways shown on the Circulation element Functional Ciassification Map, including protection of right-of-way for future roadways not yet constructed (policy 6.1.3; 16.3. 16.11). . Reserve t~e rights-of-way required for highways designated in the arterial highway system shalll:le re3el"VeEll:ly the City eEl and prohibit land uses and de- velopment that could preclude the timely acquisition of these lands for roadway purposes sftall Ret I:le JleIlnitteEl (policy 6.1.4; 16.3). · Direct t~e Public Works Department shell to be responsible for developing and enforcing access standards regarding new driveways and other encroachments to arterial highways so as to minimize side frictions that are detrimental to safe and efficient functioning of arterials (poli<;y 6.1.5; 16.4). 4-107 -- - o o · The CitJ traffie eftgineer sitaR p,Prohibit, where feasible, left-turn movements to and from any driveway within 250 feet of an existing or planned signalized intersection (POlicy 6.1.8: 16.4). · =ffte Req.uire that cumulative and downstream impacts of new development on the circulation system citywide sftaU. be evaluated and adequately mitigated con- current with development where practical, provided that the development is guaranteed an equitable reimbursement for improvements provided above and beyond those solely necessary to accommodate that development's traffic (POlicy 6.1.12: 16.7. 16.8). · =ffte Require that the burden of costs of roadway improvements including traffic signal installations shall be equitably distributed among property owners/ devel- opers benefiting from new development and highway users (policy 6.1.13: 16.7. 16.8). · 'The City saaR \i'Work with Caltrans to insure that construction of new freeways (Route 30) and/or widening of existing freeways (1-215, 1-10) include appropriate sound walls or other mitigating noise barriers to reduce noise impacts on adja- cent land use (policy 6.2.1: 16.9. 16.11>. · The City sftaD p,Provide for the development of mixed-use residential-commer- cial-office developments to capture demand that would otherwise travel to an- other area (i.e., increase opportunities to work and shop close to home and to conduct errands close to work) (policy 6.2.5: 16.12). · Provide for the development of mMulti-family residential areas shan be f3llHlf1.ea near job centers to maximize opportunities for people to live and work in close proximity to one another (POlicy 6.2.6: 16.12). 4-108 ".... o o . The City SRan rRequire that a traffic impact study be prepared and submitted to the City for review and approval for all new developments or substantial im- provement to existing developments which will result in significant increased trip generation so that an adequate evaluation of potential significant traffic im- pacts associated with proposed new developments is obtained prior to project approval and shall require the implementation of appropriate mitigation mea- sures prior to or in conjunction with project development (poli<;y 6.2.7: 16.13). . The CUy sRall rR!'!quire that adequate access be provided to all developments in the City including, where feasible, secondary access, to facilitate at a minimum emergency access and egress for the development (poli<;y 6.2.8; 16.4, 16.14). . The City sRall rR!!gulate on-street parking of trucks where necessary to discour- age truck parking on primarily residential streets or in other locations where they are incompatible with adjacent land uses (poli<;y 6.3.2: 16.15, 16.16). . The City SRalI. tiDevelop and promote interconnected pedestrian facilities and al- ternate modes of transportation (poli<;y 6.4.1). . The City shall rRequire the provision of adequate pedestrian access for new de- velopment projects through its standard site plan review process (poli<;y 6.4.6: 16.18). . The City shall ppursue implementation of a shuttle service connecting regional commercial and employment centers in the downtown and Tri-City areas (policy 6.4.11; 16.22). . Encouraie mMeasures which will reduce the number of vehicle-miles traveled during peak period, shall. he eneewageti, including the following examples of these types of measures (poli<;y 6.4.12: 16.22): 4-109 -,ft - o o 1. Incentives for carpooling and vanpooling. 2. Preferential parking for carpools and vanpools. 3. Conveniently located bus stops, with shelters. · ReQuire that !\New developments sftaY size their improvement to service the up- stream needs of future developments, consistent with the long range infrastruc- ture needs of the City, as approved by the City Engineer CI6.23>' TIle Ciratlatieft Blemalt al.se eefttams a series ef imp1eH\ef\taaeft pregi'lUftS. These pregi'ams The implementation programs contained in the Circulation Element shall be carried out by the City to implement the goals, objectives and policies listed in the ele- ment. The following are key implementation programs which must be carried out to ensure that the Circulation System improvements are completed: · Prepare Annual Five Year Capital Improvement Program.QQ,ll · Right-of-Way Dedication~ · Access Standards (16.4) · Traffic Signal Timing and Installation (16.5) · Infrastructure Cost Allocation/Reimbursement Program.ilQ2l . Traffic Systems Fee (16.8) · Implement Land Use Element (16.12) · Traffic Impact Analysis Standards (16.13) · Secondary Access Guidelines (16.14) · Neighborhood Protection Plans (16.162 · Pedestrian Master Plan (16.18) · Transportation Demand Management Plan and Ordinance (16.22) The remaining implementation policies are equally important, although they have less direct impact on the roadway improvements analyzed in this EIR. 4-110 ..... o o The demand for additional water service resulting from General Plan buildout will re- quire the construction of new and/or upgraded water transmission, storage and distri- bution facilities within the planning area pursuant to the Municipal Water Departments' Water System Master Plan. CeneHl PlaR PaYees HUI. Pregrllfl\S relatiag General Plan policies 7.6.1-7.6.11. 7.7.1-7.7.3. and 7.8.1 and implementation pro&rams CD7.2.17.11-17.14, 17.17-17.19. and 17.41 relate to water supply, transmission, distribution, and storage ADd are intended to tie development into the availability of adequate do- mestic water service. Secondary impacts, e.g., noise, air quality, and impacts to biological resources, associat- ed with the physical construction of new water facilities could also be of concern, both short-term and long-term. These impacts will be identified during the environmental re- view process for specific development projects in the planning area. 4.2.2.1.3 Cumulative Impacts Multiple public and private water purveyors are responsible for providing water ser- vice within RSA-29. Ultimate buildout of RSA-29 is anticipated to require approximate- ly 153,000 acre-feet of water per year (Table 19). 4.2.2.1.4 Mitigation Measures Draft Plan policies and programs relating to water facilities require: '. . · Development to be served from an approved domestic water supply (policy 7.6.5; 17.17); · The construction of upgraded and expanded water facilities to support existing and new development (policy 7.6.2; 17.2.17.16.17.19); 4-120 ... . o o · Adequate water facilities be operational prior to the issuance of certificates of occupancy (policy 7.6.4: 17.17); and · Monitoring the demands on the water system and, as necessary, manage and I or limit development (policy 7.6.6: 17.6. 17.17>. Adherence to these policies is expected to adequately mitigate impacts to water supply as buildout occurs in the planning area. Mitigation measures for potentially adverse secondary impacts resulting from the con- struction of new water facilities would be identified during the environmental review process for specific development proposals. 4.2.2.1.5 Level of Environmental Significance The additional demand for water resulting from Draft Plan buildout does not exceed the available water supply within the planning area. Therefore, no significant adverse impacts are expected to occur with respect to water supply (Oass ill). 4.2.2.1.6 Unavoidable Adverse Impacts No unavoidable adverse impacts with respect to water supply are expected to result from implementation of the Draft Plan. 4-122 .. - o o 4.2.2.2.4 Mitigation Measures No adverse impacts are expected with respect to solid waste collection activities as a re- sult of implementation of the Draft General Plan. Consequently, no mitigation mea- sures are required. Impacts to area landfills resulting from General Plan buildout of the project can be miti- gated by General Plan policies 7.12.1-7.12.5. 7.13.1. and 7.13.2 and programs 17.4. 17.24- 17.31. and 17.41 which: · Require the City to participate in regional long-range planning for the provision of adequate landfIll capacity (policy 7.12.5 and prolrrams 17.26-17.28); and · Require the City to participate in the development and implementation of recy- cling programs (both local and regional) to reduce the amount of solid waste re- quiring disposal (policy 7.13.1 and programs 17.27. 17.28. and 17.30). 4.2.2.2.5 Level of Environmental Significance No significant adverse impacts with respect to solid waste collection and disposal are anticipated that cannot be mitigated to a level of non-significance by policies of the Draft General Plan or the County Solid Waste Management Plan (Oass ill). 4.2.2.2.6 Unavoidable Adverse Impacts Intensification of development under the Draft Plan will result in generation of greater volumes of solid waste and will contribute to the ultimate utilization of existing landfill capacities. While short-term impacts are potentially significant after ultimate utilization of existing landfills, long-term impacts can be mitigated through implementation of County and City solid waste management practices per the County Solid Waste Management Plan. 4-125 111. o o the City's Sewer System Master Plan. Approximately 35.6 mgd of wastewater generat- ed will be generated in the planning area total, at General Plan buildout (Table 18). This total amount of wastewater requiring treatment is less than the Master Planned expan- sion of the SBWRP. Secondary impacts; e.g., noise, air quality, impacts to biological resources, associated with the construction of new sewage facilities could also be of concern from both a short-term and long-term perspective. These impacts will be identified during the envi- ronmental review process for specific development projects in the planning area. 4.2.2.3.3 Cumulative Impacts Maximum buildout of RSA-29 will result in the generation of approximately 91.8 mgd of wastewater as indicated on Table 19. Wastewater collection and treatment services are provided by several different agencies within RSA-29. 4.2.2.3.4 Mitigation Measures CeftEral Plan flelieies am!. flrsgi'affiS relatiRg te wastev;ater fl1cilities l't:EfHire: The Draft Plan addresses wastewater facilities with policies 7.1.1-7.1.8. and 7.5.2. and implementation prolrrams 0)7.1-17.15. 17.21. and 17.41. These policies and programs re- Quire: · Construction of upgraded and expanded wastewater collection and treatment fa- cilities to serve existing and new development (17.1. 17.5); · New development to connect to a master planned sanitary sewer system per the Department of Public Works Sewer Policy and Procedures (17.3); · New development to secure capacity rights for the SBWRP flrier t8 tfte iGsl:laREE 8f lniilaiftg fl....,".its; ltR6. as a condition of proiect approval (17.4); 4-128 II.. o o . Monitoring the impacts and demands of new development on wastewater collec- tion and treatment facilities and, if necessary, manage development to mitigate impacts (17.6). . Adherence to these policies and to the discharge requirements set forth by the California Regional Water Quality Control Board - Santa Ana Region, should mitigate impacts with respect to wastewater disposal as buildout occurs in the planning area. Mitigation measures for potentially adverse secondary impacts resulting from the con- struction of new wastewater facilities will be identified during the environmental re- view process for specific development proposals. 4.2.2.3.5 Level of Environmental Significance Adoption of the updated General Plan is not anticipated to result in any adverse envi- ronmental impacts with respect to wastewater collection and/or disposal that cannot be mitigated to a level of non-significance (Class ill). 4.2.2.3.6 Unavoidable Adverse Impacts Implementation of the revised General plan is not expected to have any unavoidable adverse impacts with respect to wastewater disposal or treatment. 4-129 ,,~ - o o 4.2.2.4 Natural Gas 4.2.2.4.1 Existing Conditions Natural gas service is provided in the planning area by the Southern California Gas Company. The company owns, operates and maintains underground gas lines in most of the public streets. Southern California Gas Company has indicated that its existing distribution system will adequately serve existing and future customers in the planning area, and the company has no plans for major upgrades of its system in the near future (TBR page 3-56). In 1987, the planning are used approximately 503 million cubic feet (mcf) of natural gas per month (Table 16). 4.2.2.4.2 Project Impacts Buildout allowed per the revised General Plan would be expected to result in the use of an additional 383 mcf of natural gas per month (Table 17), a 76 percent increase above 1987 consumption. This additional demand for natural gas represents a commitment of a non-renewable energy resource. Approximately 886 mcf of natural gas will be used in the planning area at General Plan buildout (Table 18). 4.2.2.4.3 Cumulative Impacts Buildout of RSA-29 could result in the use of approximately 2.3 billion cubic feet of nat- ural gas per month (Table 19). 4.2.2.4.4 Mitigation Measures General Plan policies related to energy conservation (policies 11.1.2-11.1.7, 11.1.9, 11.1.10, and 11.1.14) are intended to reduce the amount of energy (natural gas and elec- tricity) needed to serve the planning areas. Specific pPolicies and implementation programs which encourage energy conservation include: 4-130 L/_ o o · Incorporation of energy conservation features in new construction and site development (policy 11.1.2: 111.3. 111.4, 111.6); · Installation of energy conservation features in existing construction (policy 11.1.2; 111.3. 111.4. 111.6>: · Energy audits of existing structures (policy 11.1.3: 111.7. 111.8); and . Incentives for the installation of energy conservation measures (policy 11.1.4: 111.7,111.8). 4.2.2.4.5 Level of Environmental Significance The Gas Company has indicated that it is able to provide natural gas service to the plan- ing area at project buildout. hnplementation of the Draft Plan is not anticipated to have an adverse impact with respect to natural gas utilities (Class ill). 4.2.2.4.6 Unavoidable Adverse Impacts Even with implementation of energy conservation measures wherever feasible, buildout of the revised General Plan would result in an increase in natural gas usage. This repre- sents an incremental decrease in the future availability of this non-renewable resource. 4-131 o o Increased use of geothermal resources and the subsequent reduction in the use of tradi- tional energy supplies would be considered a beneficial impact of the project. 4.2.2.5.3 Cumulative Impacts Maximum buildout of RSA-29 will result in an electrical demand of approximately four billion kwh per year (Table 19). Increased use of geothermal energy resources in the cumulative project area, and the subsequent reduction in demand for traditional energy resources would be a beneficial impact. 4.2.2.5.4 Mitigation Measures General Plan policies related to energy conservation (policies 11.1.2-11.1.7. 11.1.9. 11.1.10. and 11.1.14) are intended to reduce the amount of energy (natural gas and elec- tricity) needed to serve the planning area. PelieiES relates. te Efterg)' eSftSfr7atiSft ift ehis.e: Specific policies and implementation programs CD encouragin~ ener~ conserva- tion include: · Incorporation of energy conservation features in new construction and site development (poli~ 11.1.2: Ill.3. Il1.4. Ill.6): · Installation of energy conservation features in existing construction (policy 11.1.2; Il1.3. 111.4. 111.6); · Energy audits of existing structures (poli~ 11.1.3; Il1.7. Ill.8); and · Incentives for the installation of energy conservation measures (poli~ 11.1.4: 111.7.111.8). In addition. policies 7.18.1-7.18.3 (and implementation programs 17.38 and 17.39) pro- vide for continued development of geothermal enerID' distribution lines. public fund- ing. and public education regarding the City's available ~eothermal resources. 4-133 L_ o o 4.2.2.5.5 Level of Environmental Significance No adverse impacts with respect to use of electricity and geothermal energy are expected to result from project implementation (Oass ill). 4.2.2.5.6 Unavoidable Adverse Impacts No unavoidable adverse impacts with respect to electrical or geothermal energy are ex- pected to result from project implementation. 4-133A LId - o o 4.2.3.1.2 Project Impacts Under maximum buildout of the Draft Plan, San Bernardino's population will expand to 260,326, a 33% increase over the 1987 level. Development will also intensify, and both these factors will, in turn, increase the demand on police patrol, traffic and associ- ated services. Based on the City's existing ratio of 1.7 sworn officers per thousand citizens, the maximum buildout population would require an additional 198 officers. Based upon ratios described in Appendix D, 28 additional sergeants, 9 additional lieu- tenants, 3 additional captains, 65 additional non-sworn personnel and 79 squad cars would also be necessary to maintain existing levels of service. 4.2.3.1.3 Cumulative Impacts The cumulative population in RSA-29 is projected to reach 644,070 persons by the year 2010. Of the total cumulative population, 28% will be contributed by the City of San Bernardino. As the vacant, unincorporated areas of the northwest quadrant are developed, the City may require increasing support from the County Sheriff's Department until such time as they are annexed and become the jurisdiction of the City Police Department. This means that the County Sheriffs Department will be required to allocate a greater proportion of its services to the City's planning area in the future. 4.2.3.1.4 Mitigation Measures Although the Draft P~an buildout of the Draft Plan will create a significant impact on police services, the Draft Plan has incorporated policies (8.1.1-8.1.6 and 8.2.1-8.2.4} and programs (18.1-18.9) which will allow City Police services to meet the increasing demands. Not only shall the City provide funding necessary to adhere to state and federal standards .!m.:11 but the City shall conduct an annual assessment of the Police Department to evaluate current and anticipated infrastructure and staffing needs (18.2). Effective utilization of funding sources will occur through programs incorporated in the Draft Plan which centralize funding development lUui esteBlish a staff pssitisR speaHe 4-139 .--. o o te that I'lH't'ese ~ Finally, the Draft Plan calls for programs which coordinate private security patrols and crime prevention activities, establish an early intervention program for youth as well as support and expand Neighborhood Watch programs 08.6- 18.8). With effective implementation of the Draft Plan's policies and programs, no mitigation measures are necessary to eliminate or reduce impacts. 4.2.3.1.5 Level of Environmental Significance The increase in population and community activity accommodated in the Revised General Plan will significantly impact both City and County police services. However, with appropriate implementation of the Plan's policies and programs, these impacts will be addressed adequately and mitigated. Therefore, the Plan's impact on police services is a Class II level of significance (significant impacts that can be mitigated). 4.2.3.1.6 Unavoidable Adverse Impacts If police personnel and equipment are increased in proportion to population growth within the City, no unavoidable adverse impacts to police services are expected to occur from implementation of the Draft Plan. 4-140 ,. - o o the California Department of Forestry and the Central Valley Fire District's fire services. These and other entities which have joint mutual response agreements with San Bernardino may have to respond increasingly to calls in San Bernardino's Planning area as the number of fire sources and the demands on emergency services grow. 4.2.3.2.4 Mitigation Measures To offset the increased potential for wild fires, as well as to maintain an adequate level of fire service for the expanding City, se-.ual numerous policies and programs have been incorporated into the Draft Plan. These include policies 8.3.1-8.3.4. 8.4.1-8.4.6. 8.5.1. 8.6.1. 15.1.1-15.1.8. and 15.2.1-15.2.8 and implementation programs U>8.10-18.19. and 115.1-115.9. Administrative programs include annual City documentation and assessment of fire services and events (18.13); periodic review of the City's mutual aid agreements for unincorporated areas (18.17); and a study on establishing a greenbelt buffer between foothill residential development and wildland areas fI15.7). The Draft Plan further states that the City's development code shall incorporate both landscaping and construction provisions of the Foothill Communities "Greenbelt" Program (18.10). Development projects will be reviewed not only for their conformance with policies and programs in the Draft Plan but reviewed also as to their effects on the level of fire services 08.12). Finally, the City shall impose fees on development as permitted by State legislation, where development of fire facilities are necessitated (18.19). Given that these and other policies and programs of the Draft Plan are effectively implemented, no mitigation measures are necessary. . 4.2.3.2.5 Level of Environmental Significance The Draft Plan policies and programs can control fire hazards, but not eliminate them. Therefore, the impacts are determined to be potentially significant but mitigable (Oass m. 4-146 -- - ._ "'-~J o o 4.2.3.3.4 Miti~ation Measures The Draft Plan I"rel"eses I"elieies lIRa I"regams v,hieR IIff iftteftaea te H\aiRtaiR ana iRll"reve Plan policies 8.7.1-8.7.3. and 8.8.1-8.8.7 and implementation pr<>il'ams (I)8.20- 18.29 focus on the maintenance and im~rovement of the quality of education for both youth and adults. Key programs of the Draft Plan include annual City assessment of the adequacy of public educational facilities and the use of non-traditional funding, such as additional residential development impact fees 08.20). Also included are policies which address the need for citizen awareness and education through the use of cable television broadcasts of City meetings and other publici emergency information (policies 8.8.3. 8.8.5). Given that these and other educational policies and programs of the Draft Plan are effectively implemented, no mitigation measures are necessary. 4.2.3.3.5 Level of Environmental Significance The Draft Plan contains policies and programs which, when implemented, will allow for the expansion of educational services to meet the expanding population. Therefore, the Plan's impacts are significant but mitigable (Class m. 4.2.3.3.6 Unavoidable Adverse Impacts Given implementation of measures included in the Draft Plan's educational policies and programs, no unavoidable adverse impacts on education are expected to result from buildout of the Draft Plan. 4-152 lII. o o 1,000 population; 1-2 acres per 1,000 population should be allocated for neighborhood parks. The Oty of San Bernardino currently provides 521 acres of developed parks. This equals 3.7 acres per 1,000 population; .9 acres per 1,000 of neighborhood parks. This indicates a shortage of 182 acres based upon standards discussed above. However, this deficiency is offset somewhat by three regional parks, various school sites and the San Bernardino National Forest, all of which provide additional recreational opportunities. 4.2.4.2 Project Impacts Under the Draft Plan, the City's population may grow to 260,326 people. Based upon NRPA standards of 5 acres per 1,000 people, the City should provide a total of 1,302 acres of local parks for this future population. This means that in order to both improve the existing park ratio and maintain the standard through to maximum buildout of the Plan, 781 acres will be required in addition to the existing base of 521 acres. Because the northwest comer of the planning area is currently lacking in community parks, parks and recreation facilities will become especially acute there as the vacant areas are developed and as presently unincorporated lands are annexed. 4.2.4.3 Cumulative Impacts By the year 2010, an estimated 644,070 people may reside in SCAG's RSA-29. Based on this estimate and the National Association's standards for park land dedication, 3,220 acres of local parks will be needed in the area; the City of San Bernardino's future need for 1,302 acres of parks represents 40% of this total. 4.2.4.4 Mitigation Measures The Draft PlaR Ra5 iReerfleratea flelieies aRa flrsgrams whim aaeEIHatdy Plan policies 9.1.1-9.1.14. 9.2.1-9.2.7. 9.3.1-9.3.10. 9.4.1-9.4.8. 9.5.1. and 9.5.2 and implementation 4-154 _I. - o o programs <D 9.1-19.23 address the expanding needs for parks and recreational facilities in the City. ThE!R.programs include the preparation of a comprehensive master plan of parks which identify existing sites to be improved or expanded as well as target acquisition locations for future parks !I2J}; determination of neighborhoods with low park acres-to-people ratios.il2&l; and estahli&hH\~ studrini the need for establishini a new position in the Parks and Recreation Department to monitor and expand funding programs 09.11). Emphasis is also placed on the purchase, acquisition or base of surplus public lands, particularly Santa Ana River, Cajon Creek and Lytle Creek, for low intensity recreational use (19.15. 19.16). Finally, administrative and legal mechanisms shall be established to allow for benefit assessment districts and special taxes to fund proposed acquisitions and improvements (19.23). Given that these and other park related policies and programs in the Draft Plan are effectively implemented, no mitigation measures are necessary. 4.2.4.5 Level of Environmental Significance The Draft Plan has incorporated policies and programs, such as the preparation of a park master plan and expansion of funding mechanisms, which, if effectively implemented, will mitigate the potential demand for parks. Therefore, the Plan's impact on parks is significant but mitigable (Class II). 4.2.4.6 Unavoidable Adverse Impacts Given effective implementation of the Draft Plan, no unavoidable adverse impacts are expected. 4-155 c o · Indirect loss in the quality of remaining wildland habitats as a result of increased human-related activities within and on the edges of open spaces. This impact in- cludes such things as light and noise disturbances, introduction of exotic species and predators, decline in air and water quality as a result of pollution, animals killed upon highways, direct depredations by humans, and other less apparent impacts. The net result of these impacts would be to reduce the extent and diversity of the exist- ing biological.resources and replace these resources with a habitat typical of an urban environment. Policies and programs of the Draft Plan affecting the future condition of biological resources in the planning area include: · The acquisition and maintenance of a data base (POlicy 10.1.1, implementation program (1)10.1); designation of a Biological Resource Management Overlay.!lm!:. icy 10.2.1, nO.2-n0.5); and establishment of an Environmental Review Board to act as an advisory body to the Mayor and City Council in matters of project review (within the Biolo~cal Resource Management Overlay area). conformance with development standards, mitigation and monitoring (policy 10.2.2, nO.2- nO.5). · The establishment of a committee to investigate the feasibility, suitability, and to make specific recommendations for the acquisition of property rights to accom- plish a corridor connection between the Cajon/Lytle Creek Wash area and the publicly owned National Forest Lands (policy 10.4.1, nO.6. nO.7. and nO.9). · The preservation and enhancement of riverine habitats for sensitive fish species through establishment of a committee to investigate feasibility, suitability, and the making ofrecommendations (policy 10.5.1. nO.1, nO.2. and nO.B). 4-162 I!". ""- o o · Halting the further loss of two federally-endangered plant species in the floodplain by requiring assessments, mitigation and by restricting off-road vehicle use (policy 10.6.3, 110.2). The Draft Plan's policies and programs, such as those discussed above. attempt to provide safeguards for sensitive biological elements beyond that of existing state or fed- erallegislative mandates. For example; the Federal Endangered Species Act provides no protection whatsoever to species occurring on private land unless they are involved in projects requiring federal approval or funding. Similarly, private projects do not come under the jurisdiction of the California Endangered Species Act. California's Native Plant Protection Act requires only that landowners give the Department of Fish and Game ten days notice before destroying protected plants provided the landowner has previously been notified of their presence. Moreover, the Draft Plan provides some measure of protection to a broader spectrum of sensitive biological elements, including natural communities, than do state or federal listing programs. In this respect, the Draft Plan's policies are ahead of current legislation in addressing the issue of preserving bio- logical diversity at the local level. 4.3.1.3 Cumulative Impacts Indirect loss in the quality of remaining wildland habitats in the planning area is expect- ed as neighboring communities continue to buildout, thereby causing increased de- mands upon these wildlands for their scientific, educational and recreational values as well as intrinsic values such as flood control or amelioration of air and water quality. The impact of the accumulated buildout of neighboring communities is expected to con- tinue the current trend of loss of biological diversity. 4.3.1.4 Mitigation Measures Even with all of the Draft Plan's policies and programs relating to biological resources implemented (policies 10.1.1. 10.2.1-10.2.6. 10.3.1-10.3.4, 10.4.1-10.4.3, 10.5.1. 10.6.1- 4-163 .... "l c . 10.6.3, and programs 110.1-110.9), impacts to biological resources may occur. Such im- pacts could include the direct loss of listed federally endangered plants in the Cajon- Lytle Creek Wash area, as a result of the Draft Plan's intensified industrial zoning in this area. Additionally, this area also supports the sensitive Alluvial Fan Sage Scrub habitats. The Draft Plan also allows for development to occur within the mountainous areas designated for hillside management. This may adversely affect sensitive biologi- cal elements through direct loss, or more likely through secondary or indirect degrad- ing of habitat caused by fragmentation and increased edge-effects of human presence, noise, lights, exotic species introductions and general declines in air and water quality. The Draft Plan's policies and programs should minimize any adverse effects on biologi- cal resources by requiring that the City's buildout be rational and cognizant of its bio- logical constraints. This will occur by establishing a management (overlay) zone (policy 10.2.1. 110.2-110.5), within which will be required development review and design stan- dards to protect the resource. A potential problem could occur in implementing the Draft Plan during the Initial Study phase of project review, whereby the City determines (initially) whether there is potential for significant impacts to resources associated with individual projects: In many cases, the individual responsible for making this determination does not have ad- equate training or information available, and in addition may know little of mandated protections, and therefore, cannot make an informed judgment. The Draft Plan partial- ly addresses this problem by requiring that the biological Data Base Report shall be re- ferred during the Initial Study for each project proposed to the City (110.1). However, the Data Base is admittedly incomplete and inadequate as a single source of information upon which to make an Initial Study determination. To site and develop land uses to minimize impacts on sensitive biological resources (Objective 10.2), the Draft Plan should assure an adequate assessment of biological resources during the Initial Study phase of project review. Amend implementation pro- gram 110.1 to include: 4-164 ,.A o o · The City shall retain the services of a qualified professional biologist<s) whose function shall be to evaluate Initial Studies for proposed projects from the standpoint of potential for impacts to biological resources. Policies 10.4.1 and 10.5.1 in the Plan call for the studies to determine the feasibility of establishing connected open space and of enhancirtg fish habitat. There does not appear to be specified time limits for implementing programs nO.6 and no.s in connection with these policies. Therefore, these programs should be amended to specify: ....The committee shall present to the Mayor and City Council a written report of their findings and recommendations within two years of Plan adoption. 4.3.1.5 Level of Environmental Significance Because the Draft Plan does not uniformly impose project review and design standards uniformly over the project area, then those areas outside the identified Biological Resource Management Overlay (BMR) do not receive the increased level of protection afforded therein. Consequently, impacts to previously unrecognized biological resourc- es could occur outside the BMR, especially if the Initial Study fails to identify potential impacts. These impacts are deemed potentially significant, but mitigable (Class II) through adequate Initial Study procedures and strict adherence to CEQA mitigation re- quirements. '. . 4.3.1.6 Unavoidable Adverse Impacts The Draft Plan does not, and cannot, preclude the conversion of land from vacant or wildland uses to urban land uses. Over time, continued fragmentation of habitats for wildlife and plants, together with concomitant increases in adverse edge-effects and general degradation in the quality of remaining habitats is expected to continue the local and regional depletion of biological diversity. 4-165 ...q 1 o o 4.3.2.3 Cumulative Impacts Substances emitted into the air in the northeastern portion of the San Bernardino Valley affect the adjacent communities in the Redlands, Riverside Basin and Pomona Valley areas and other contiguous valleys. Pollutants are frequently transported to the San Bernardino Valley from the San Fernando Valley, the San Gabriel Valley and the greater Los Angeles Basin. The South Coast Air Quality Management Plan does not specifically address control requirements for adjacent areas, but recognizes that control measures within the San Bernardino Valley and the entire South Coast Air Basin assist downwind areas to comply with California and Federal air quality standards (SCAQMD, 1988). Predominantly western winds frequently move air pollutants into the San Bernardino Valley. Any increase in emissions within the San Bernardino Valley or South Coast Air Basin will further degrade existing air quality. 4.3.2.4 Mitigation Measures To restore and perpetuate good air quality (policies 10.10.1-10.10.6. 10.11.1-10.11.13. and 10.12.1 of the Draft Plan focus. ~e Draft Plan pelides Rave feel:lSea on promoting air quality that is compatible with the health, well being and enjoyment of life. A:ir Ettilllity mltigatisR indl:ldes tile Draft Plan's pelieiell Ma impleffietltlltieR pregraft13 tftat eaR fer eeRftmtea air Ettilllity meniteriRg) eeRiftg reg1:ilatieRs te B'IHlimiile veltiele ir&"L."el ana a5sseiatea air .emissisl\5, parlieipatisR is regisaal meeh.afti5H'l5 te reatlee emlssieflS ana iJRpreve air Efl:lality. Specifically; policies 10.11.1-10.11.10 and 10.11.12 and implementation pro&1'ams m10.11, 110.16-110.18. 110.21, 110.23. 110.24. and 110.26- 110.28 address the air quality situation by providin~ for mechanisms (includin~ zoning regulations) to minimize vehicle travel and associated air emissions. Policies 10.10.4. 10.121. 110.16 and 110.28-30 provide for participation in regional mechanisms to reduce emissions and improve air quality. Working with the South Coast Air Quality Management District and other local cities in the South Coast Air Basin will help to co- ordinate and ensure effectiveness of programs and mechanisms to improve air quality. 4-176 f_r\ - -~ ,- o o k. Fortieth Street: from Wildwood Park to Mountain Avenue 1. Mountain A venue: from 40th Street to Marshall Boulevard m. Hospitality Lane: from UE" Street to Waterman Avenue n. North Park Boulevard o. Airport Drive San Bernardino's urban forum is dominated by its pattern of north-south and east-west arterials. Along these are grouped continuous and semi-continuous masses of commer- cial buildings. In the downtown area and along portions of Highland Avenue CUE" Street to Waterman Avenue), Mount Vernon Avenue, and Base Line Street, the build- ings front directly onto the street frontage and directly abut one another. This conveys a typical pedestrian-oriented ''Main Street, USA" character. Most other commercial cor- ridors are developed with multi-tenant centers setback from the street frontage and sur- rounded by asphalt parking lots, infilling the grid pattern of commercial-lined streets is a uniform pattern of low and moderate density housing. Along the northern limits of the City, this pattern varies to reflect the foothills of the San Bernardino Mountains. The City's uniform pattern of development is broken by a number of clusters of high density and land extensive uses. They include the downtown, Tri- City/Commercenter/Club area, Inland Center and Central City Malls, Norton Air Force Base, California State University campus, San Bernardino Valley College campus, Santa Fe Railroad yards, Auto Plaza, and National Orange Show. Additionally, much of the southern portions of the City is characterized by a sprawling pattern of industrial and vacant lands. 4.3.3.2 Project Impacts The Draft Plan sets forth policies and programs that will, generally, enhance the visual character of the San Bernardino planning area. These include policies 1.43.1. 1.43.2. 1.44.1. 1.45.1-1.45.10 and implementation proWams 11.1-11.4. 11.6. 11.9. 11.12. 11.17. and 4-183 , J - I ~~ o o 11.23. The policies and programs are designed to work in concert with additional densi- ty and development in a manner that will support the character of existing districts and sites, and enhance the character of other districts and sites, through development and infrastructure improvement standards. The Draft Plan, in the Land Use and Urban Design, and Urban Design for Public Open SpaCes Sections, targets specific districts and corridors for improvement or enhance- ment programs, including: City entry and gateway improvements, streetscape im- provement programs, facade rehabilitation, design and development standards, signage standards, and policies and programs designed to enhance and facilitate pedestrian ac- tivity. The general visual quality of development and construction will be improved by imple- mentation of the Plan's policies and standards. These include policies 1.13.32. 1.13.34. 1.14.40. 1.15.34. 1.16.32. 1.19.30. 1.19.31. 1.20.31. 1.20.34. 1.21.33. 1.22.31. 1.22.32. 1.22.34, 1.23.30. 1.23.31. 1.24.30. 1.24.32. 1.25.31. 1.25.33. 1.26.31. 1.27.30. 1.27.31. 1.28.30. 1.29.32. 1.31.31. and 1.3230. Among these are architectural design guidelines which mandate the avoidance of anonymous, undifferentiated "stucco-boxes" and establish a "pedestri- an-oriented" character in the ground elevation of commercial structures in key activity areas of the City and requirements for the extensive use of on-site landscape and ameni- ties. Existing commercial districts will become more visually .distinct due to the limitation of uses and establishment of precise development standards for commercial, industrial, and residential sub-areas of the City. For example, specific community-serving com- mercial areas, such as Highland Avenue "Core" between ''E'' Street and Waterman Avenue and the Mount Vernon "ethnic themed village" between 4th and 8th Streets, will be developed in accordance with architectural and site design guidelines which dif- ferentiate these from other commercial corridors and districts. Region-serving commer- cial centers will be further differentiated by intensity and design; including the down- town and Tri-City /Commercenter area. Each of these, as well as the other key districts 4-184 ,,~ .It - I. '''''''''"''''- o o While the Oty's overall open spaces will be reduced by development in accordance with the Draft Plan (as previously discussed), public parklands and recreational areas will be expanded. These will include neighborhood, community, and regional parks, recreational corridors in the Santa Ana River, Cajon Creek, and Lytle Creek, and "green- belt" linkages to the San Bernardino Mountain foothills. 4.3.3.3 Cumulative Impacts Buildout of RSA-29 at projected levels would alter the aesthetic character of the commu- nities involved as densities increase. However, the extent of impacts on viewsheds, both to and from the developed areas, will depend upon specific architectural and de- sign standards used on a project by project basis. 4.3.3.4 Mitigation Measures Many of the Draft General Plan policies and programs will mitigate the impacts of development on the City's visual environment. (These policies include 1.1.xx-1.38.xx which. as discussed in the land use section of this EIR. address design and development suidelines for all permitted uses.) In some cases, they will enhance the visual character. Principal among the latter are the following: 1. Guidelines for the compatibility (height, mass, architecture), setbacks, etc.) of new development as infill in existing districts and neighborhoods. 2. Guidelines for the architectural and site character and design of residential, commercial, industrial, and public uses (e.g., facade articulation, variation of building volumes and masses, and landscaped setbacks). 3. Requirements for the establishment of visual buffers between uses of different function and density. 4-187 14 -" it" C) o 4. Establishment of pedestrian-oriented commercial districts at key activity locations in the City. 5. Programs for the development of urban design improvements throughout the Oty. a. Street tree master plan; consistent planting b. Entry and key district identification c. Streetscape improvements (furniture, landscape, paving, lighting, and signage) in the Oty's key districts (downtown, Tri-City/Commercenter, Mount Vernon Theme Center, Santa Fe Railroad Depot, Waterman Avenue Office Industrial Park, Regional Opportunities Corridor, Highland Avenue "Core", etc). 6 Prohibition of the construction of new billboards (policy 1.45.1, 11.1). 7. Increased design standards for signage (policies 1.45.1-10 and 11.1, 11.9. and 11.23). 8. Guidelines for the visual compatibility of new residential development in hillside areas, prohibition of cut-and-fill residential pads on slopes exceeding 25%, and prohibition of any development on slopes exceeding 40%. 9. Financial assistance and other incentives for the renovation and upgrade of deteriorated buildings. 10. Evolution of areas of mixed use and density to a more consistent and uniform pattern, improving their visual quality. While the Draft General Plan will result in the increased intensity of buildings throughout the City, many of the visual impacts will be reduced by the prescribed policies for architectural design, vertical setbacks of building elevations, property 4-188 faU u - ,~~- o o compatible land uses, and assure adequate reclamation. The primary areas of Construction Aggregate Sectors, including most of the B, C, and F areas will not be impacted by the Draft Plan because these areas will be designated as Industrial Extractive or Public Flood Control. These designations effectively preserve the Sectors for future aggregate extraction uses. The smaller disjunct Sectors F-l, C -4, C-5, C-6, C-8, C-I0, F-l, F-9, F-12, and F-20 are planned for various urban uses but these Sectors are either currently urbanized or are in urban areas where the impacts to the community from mining activity would be greater than the proposed urban uses. Land uses in the Draft Plan surrounding some of the Sectors may experience some impacts related to dust generation from the mining activities, although in many areas industrial uses are proposed as buffer areas adjacent to the Industrial Extractive zones. However, in the Cajon Wash and Lytle Creek areas, residential uses and planned residential areas do border potential extraction areas and may experience potential impacts from fugitive dust generation related to future mining activities. 4.3.4.3 Cumulative Impacts In RSA-29 the Cities of San Bernardino, Bloomington, Colton, Fontana, Highland, Redlands, and Rialto contain construction aggregate deposits designated as MRZ-2 by the California Division of Mines and Geology, indicating that a commercially mineable aggregate deposit is present. Active aggregate mining currently occurs in San Bernardino, Bloomington, and Fontana. Loma Linda and Yucaipa do not contain any MRZ-2 zones. Implementation of the San Bernardino General Plan should not affect the minability of the MRZ-2 zones located in RSA-29. 4.3.4.4 Mitigation Measures In order to preserve future aggregate production areas, allow future mining activity, and ensure adequate reclamation, the Draft Plan policies 10.7.1-10.7.6. 10.8.1-10.8.10. and 10.9.1-10.9.5 and implementation proWams (1)10.10-110.13 have focused on the 4-193 rp .- Jl, - o o location of mineral resource extraction areas, defrning compatible land uses, and reclamation. Location of mineral resource extraction areas are provided for by the Draft Plan policies 10.7.1-10.7.6 that 6ftEi focus on the identification, inventorying, and mapping of sites with the goal of managing these areas to meet the mineral extraction needs of the area. These policies are expected to reduce potential impacts pertaining to the loss of mineral resource areas to acceptable levels. Mitigation measures addressing the issue of land use compatibility focus on reducing conflicts between the productive use of mineral resources and urban growth. Policies 1.34.31 and 10.8.1-10.8.10 specify buffer zones, compatible adjacent land uses, access, monitoring programs, environmentally sensitive habitat avoidance areas, and mining approval procedures. On a more site-specific basis, operators of aggregate extraction facilities in areas where dust generation may impact adjacent urban uses shall follow a dust mitigation plan including paving or watering access and haul roads, reduction of mining activities during high wind periods, covering or watering open aggregate haul trucks, and planting windbreaks on the periphery of the mining area. These activities should be periodically monitored for compliance since most potential impacts related to dust generation might not be able to be totally avoided through mitigation. The third level of mitigation contained in the Draft Plan is to assure adequate reclamation of mineral resource extraction areas. Policies 10.9.1-10.9.5 detail reclamation requirements, exploration procedures, review of reclamation plans, permits, and approvals which are expected to reduce potential impacts to acceptable levels. The above policies are put into force by the implementation programs 110.10-110.13 de- tailed in the Draft Plan. 4-194 '-.1... . - II JIW ,. ~Y.'''''''-- o o textural variability of the sediment types and the yearly fluctuations in groundwater depth, site specific geotechnical studies would be necessary to determine actual liquefaction and surface damage potentials. Potential slope instability areas include the front of the San Bernardino Mountains, the Shandin Hills, and other localized areas of moderately steep to steep slopes. Regional ground subsidence has occurred historically in the southern and central portions of the Oty but is not currently a problem due to the local water district's groundwater recharge practices. Wind and water soil erosion currently occurs on sparsely vegetated and barren slopes with sand and silt texture soil material. 4.4.1.2 Project Impacts The City of San Bernardino planning area can be expected to experience a large magnitude earthquake sometime during the life of the Draft Plan or during the life of the structures constructed while the Draft Plan was in effect. Therefore, the Geologic/Seismic section of the Plan is specifically written to reduce impacts via both policies (12.1.1, 12.1.2. 12.2.1. 12.3.1-12.3.4. 12.4.1-12.4.8, 12.5.1, 12.5.7, 12.6.1-12.6.3. 12.7.1. and 12.7.2) and implementation programs (112.1-112.46) from initial planning through emergency response and disaster recovery. A brief summary of hazards that can be expected sometime in the future includes ground shaking, fault rupture, liquefaction, slope instability and wind and water erosion. Ground subsidence is not currently considered a problem because of the existing groundwater recharge program. Ground shaking or ground acceleration will, at sometime in the future, impact existing structures, new structures, and the population growth anticipated by the Draft Plan. Fault rupture impacts are reduced in the Plan by designation of lower density residential uses on larger acreages within Alquist-Priolo Special Study Zones. Potential impacts from liquefaction have not been adequately reduced by the Draft Plan because 4-201 I~ -. e o of the large areas of the central and southern parts of the Oty in liquefaction susceptibility areas that will still experience growth. Areas of potential slope stability problems are designated Hillside Management with reduced densities and, therefore, reduced impacts, in these areas. Many of the most severe wind and water erosion areas are also included in the Hillside Management areas which will help reduce these potential impacts. 4.4.1.3 Cumulative Impacts Generally, the geologic hazard conditions in the other portions of RSA-29 are similar to those described for the planning area. As these areas grow, general plan and site specific studies will be necessary to identify potential hazards and to stipulate mitigation that will reduce impacts. The San Bernardino Oty General Plan would not be expected to cause any cumulative impacts with respect to geologic and seismic conditions in the other areas of RSA-29. 4.4.1.4 Mitigation Measures Concern with geologic and seismic issues in the planning area has led to Plan objectives, policies and implementation programs that address mitigation of fault rupture, strong ground motion, liquefaction, critical, sensitive, and high occupancy facilities, hazardous buildings, emergency preparedness, and post disaster reconstruction as described below. Fault rupture mitigation includes the Draft Plan's policies 12.1.1 and 12.1.2 and implementation programs 112.1-112.5. 112.10. 112.27. and 112.29 which call for identification of fault rupture areas, Alquist-Priolo Special Study Zone designations, zoning regulations, geotechnical site-spedfic studies and review and monitoring procedures. Avoidance of the placement of human occupancy structures within 50 feet on either side of an active fault should reduce the fault rupture hazard to acceptable levels. 4-202 LII - [ ..r ,,-~..:""""""- o o Poli~ 12.2.1 and implementation programs 112.1-112.5. 112.16-112.18. and 112.23-112.29 address the aAvoidance of structural collapse is aelire!3sed BY a8e"ssft sf "slieks ed implemefttaasft by inco1'JlOrating programs that deal with seismic performance standards, building codes, technical studies, siting, and enforcement. Liquefaction hazard identification, reduction, and enforcement is addressed in the Draft Pie's "slieies aREl"rsgriHRs in policies 12.3.1-12.3.4 and pro~ams 112.1. 112.2. 112.5. 112.6. and)12.18-112.22. The reduction of this hazard to acceptable levels (avoidance of structural collapse) by specific design standards developed through liquefaction reports is a part of the Draft Plan. Policies and programs relating to critical, sensitive, and high occupancy structures flfe aearessed ift the Draft PIe. 1ihigassa measlH'eS ineltlae address siting these structures in less hazardous areas, special code and design standards, and emergency response plans. These policies include 12.4.1-12.4.8 and associated implementation pro- ~ams 112.1-112.3. 112.5. 112.9-112.11. 112.18. 112.19. 112.23. 112.26. 112.27. 112.34. 112.37. and 112.38. Impacts of hazardous buildings can eventually be reduced to acceptable levels by adhering to the Draft Plan's policies 12.5.1 and 12.5.2 and programs 112.10. 112.11. 112.13-112.16. 112.27. 112.43 and 112.46. These mitigation measures include identification, structural evaluation, retrofitting, abandonment, use limitations, and evacuation of hazardous structures. Emergency preparedness is of vital importance given the potential for foreseeable significant seismic shaking in the planning area. Policies 12.6.1-12.6.3 and programs 112.7 and 112.30-112.37 dealing with this iS5t1e are detailed Ad!iress this issue in the Draft Plan. Reduction of impacts is suggested through siting of emergency facilities, adoption of Emergency Preparedness Plans, public education, public and government preparedness, and access designations. 4-203 - ~ u c o expose a significant increase in population to potential flooding hazards associated with climatic patterns and topography of the area. 4.4.2.4 Mitigation Measures .IM General Plan pelieies an6 pregrems incoJ:POrates poliges 7.9.1-7.9.9. 7.10.1-7.10.3. 7.11.1. 7.11.2. and 16.1.1-16.1.4 as well as implementation programs U>16.1. 116.2. 17.6. 17.20-17.23. 17.41 and 17.8 relating to Flooding and Storm Drains and Flood Control. rel}l:lire! In ieneral. these policies and pr~ams require: · The construction of upgraded and expanded storm drain and flood control facilities to protect new and existing development (policv 7.9.2: 17.20. 17.21>. (This would apply to the three areas discussed above not currently protected from the 100-year storm.) · Adequate storm drain and flood control facilities be in place in most cases prior to the issuance of certificates of occupancy (policy 7.9.4; 17.6.17.20.17.20. · Limitation of new development until flood control facilities are available or until project specific flooding concerns are mitigated (policy 7.9.5: 17.6.17.20. 17.22), General Plan policies further mitigate flooding impacts by: · Prohibiting the construction of structures intended for human occupancy in the 100-year floodplain as mapped by the Federal Emergency Management A~ency unless the project complies with the San Bernardino County Floodplain Management Program aftEi (policies 7.9.7. 16.1.3; 17.22. 116.1). 4-210 :&.1'\ .. J ..lli .. . , &. o o ... J'iteRibitittg eritieallat\8 uses, e.g., nsspit&l.s, fire statiSM, psliee statiens, pueBlO aamHUS8'a:aeR bliilElittgs, ana seaeels, fFeIR leeaftRg ,\iiftiR ifte 1 e9 year ileea 26M vntfteut aaequate mitigaaeR agaiMt ileea l\!lillH'Eis. Adherence to these policies should adequately mitigate flood related impacts to a level of non-significance as buildout occurs in the planning area. 4-210A ~I - . . ~ . JU 'I o G Twenty groundwater wells in the planning area show evidence of groundwater contamination. Regional groundwater flow is from north to south toward the Santa Ana River and Colton Narrows. Therefore, sources of contamination may be expected to migrate over time in a southerly direction. Some of the groundwater wells south of the contaminated areas have already showed traces of contamination and this trend may continue further south in the future. It is also possible that rising water tables south of the contaminated areas could bring contaminates to the surface in surface water flow. 4.4.3.2 Project Impacts Future impacts associated with proposed City-wide land uses in the Draft Plan generally fall into the categories of 1) hazardous materials use by certain types of new industrial and commercial businesses such as those described above; 2) construction within previously mapped and identified contaminated areas, or construction within areas not previously known to be contaminated and, 3) existing ground and surface water contamination impacting the water supply. While adverse impacts associated with hazardous materials are expected to be largely mitigated to insignificant levels through implementation of Plan policies .03.1.1-13.1.3. 13.2.1-13.2.4. 13.3.1. 13.3.2. and 13.4.1-13.4.4) and programs (113.1-113.59). the potential risk to public health, safety and property still exists. Given land use changes and the number of identified hazardous waste sites and areas of groundwater contamination, it is possible that as yet undiscovered areas of surface, subsurface and/or groundwater contamination could exist in the project area. Also scientific advances could reveal ad- verse affects of related materials not presently known as toxic or hazardous. Implementation of the Draft Plan would result in increased-population exposed to these potential risks. 4-214 ':11 II . .0 o o 4.4.3.3 Cumulative Impacts New growth in the geographic areas of RSA-29 may be subjected to a variety of contamination from past, present, and future users of hazardous materials. However, through criteria for planning, identification of hazardous material sites, avoidance of hazardous sites, licensing and monitoring of hazardous material users, clean-up, and public protection mitigations, potential impacts can be minimized. 4.4.3.4 Mitigation Measures Adherence to the Draft Plan's policies and implementation programs prepesea iR tAe Draft WaR Me discussed below are expected to reduce impacts to acceptable levels. Policies 13.1.1-13.1.3 and 13.2.1-13.2.4 and implementation pro~ams (1)13.3. 113.21. 113.25-113.31. 113.33 and 113.35 address hHazardous waste management planning is aaaressea if!. the Draft FlaR's peYees ana pregrams ana and operations. Policies and prosrams detail waste disposal siting criteria, public risk reduction, recycling, flftd meRiteftRg pFegrams. HailarElel:lS waste epel'atieR ilRpaets are mitigate a threagh pelieies aRa. pl'6grams ,fflim iwlel-le waste minimization, licensing, monitoring, enforcement, siting, clean-up provisions, emergency plans, fmes, and compatible land use designations. Emergency response planning is provided under policies 3.3.1 and 3.3.2 and programs 113.40 and 113.42-113.46. lIRa iftel1:1Eles These involve establishment of emergency response plans, training, public education, and hazard inventory and identification. Surface and subsurface water contamination mHigatieR isGaE:s are aiseussea tlftder pelides aRa pl'6grams lIRa aae.ess are addressed in policies 13.4.1-13.4.4 and pro~ams 113.5.113.9.113.10.113.13-113.18.113.24.113.26. and 113.47-113.59. These policies and 4-215 ~" . I.l o o prOlp"ams establishiftg a water quality task force, identification of contaminated areas, study of future contamination sites,as needed, avoidance of hazardous areas, and clean- up of contaminated water resources. Future site-specific mitigation measures should stipulate that any development in previously contaminated areas should be preceded by detailed soil analysis studies for residual hazardous materials and necessary clean-up. (This is in conjunction with 113.8 which states "Develop criteria for the evaluation of sites prior to the issuance of build- ini permits where the land use history su~gests prior hazardous waste or materials storage or disposa1.") Corrective measures for existing groundwater contamination should include installation of monitoring wells down the hydraulic gradient from the contaminated source, and construction of aeration towers to treat the areas of contaminated groundwater. 4.4.3.5 Level of Environmental Significance Because the Draft Plan provides policies and programs to control and monitor activities that utilize hazardous or toxic materials, impacts with respect to hazardous materials are categorized as significant environmental impacts that can be mitigated or avoided (Oass IT). 4.4.3.6 Unavoidable Adverse Impacts Intensification of commercial and industrial development associated with the Draft Plan will result in higher usage, storage and transport of hazardous materials and wastes, thereby increasing the risk of upset to public health and safety. In addition, as dis- cussed above, implementation of the Draft Plan would expose a greater population to potential health hazards related to hazardous materials issues. 4-216 .::&.I. '--',.-_..,r,:!I:'J o o or greater. .Residential areas adjacent to Cajon Boulevard and North Park Boulevard will be particularly impacted, experiencing noise increases of 8.0 decibels over conditions in 1986. Future traffic on University Parkway and Kendall Drive will create estimated noise increases of 5 decibels. Future noise increases along highways servicing the City will, generally, be minimal. However, noise levels along State Route 18 can be expected to increase by 4 decibels. Expansion of residential areas in the northwest quadrant will cause noise sensitive receptors and industrial noise sources (both existing and future) to be in closer contact. In all cases, however, open space, roadways and/or commercial strips serve to dissipate or buffer industrial sources from future residential areas. Although background noise levels can be expected to increase, levels experienced by sensitive noise receptors in new residential areas should not be above the recommended 6S decibel level. The Draft Plan includes policies (14.1.1-14.1.4, 14.2.1-14.2.2. 14.3.1-14.3.9. 14.4.1, 14.4.2, 14.5.1. 14.5.2. 14.5.1. 14.5.2. 14.6.1-14.6.5, 14.7.1-14.7.3. 14.8.1. 14.8.2. 14.9.1, 14.9.2. 14.10.1 and 14.10.2) and programs .!I14.1-I14.26) which are intended to reduce the significant potential noise impacts generated by the Plan. However, the implementation of etle paraealar policy 14.1.3 may not be realistically feasihle effective. It states: "Require that existing housing, health care facilities, and other "noise sensitive" uses located in areas subject to existing or future noise levels of an Ldn of 65 dB(A) and greater install insula- tion, wails, berms, or other elements which reduce the interior noise level to 45 dB(A) or less, unless physically or economically infeasible or mitigation is provided by the source." It would seem that the installation of these noise barriers in existing sensitive uses to protect against increasing noise levels caused Qy sources outside of that use's control. would not be economically or physically feasible in many instances. Vehicular traffic increases are expected to contribute significantly to noise level increases, eel as a meeile ftei5e se1tfee life Elifiiealt te miagate. Therefore, sSince vehi- cle-related noise increases are generally unavoidable, it would be ~ unreasonable to 4-228 ~~ ......, . . o o require existing uses to mitigate these future noise impacts through attenuation mea- sures. 4.4.4.3 Cumulative Impacts Assuming that vehicular traffic will be the major source of noise increase in the planning area, background traffic growth due to buildout in surrounding areas will generate noise increase in addition to those created by local planning area traffic alone. This additional noise increase resulting from background growth can be expected pri- marily along freeways and major arterial roadways. 4.4.4.4 Mitigation Measures The Draft Plan has incorporated manv policies and programs which, if eifeeti:1ely ilftl'lemeRtea, will help to retard the increase of noise levels, both from land use sources and vehicular sources. Noise related ordinances and development standards include the establishment of land use compatibility standards (114.2); adoption of a community noise control ordinance (114.9); and design and construction standards which attenuate the transference of noise between uses (114.5). The Plan prohibits new development of "noise sensitive" uses in areas subject to exist- ing or future noise levels of 65 dB(A) or greater unless interior noise levels can be re- duced to 45 dB(A). 'ThE: PIe alBe ~rehiBUs ~e ae-:el8J'meftt ef l:ISes "him geftefB.te fteise le>'oe1s eave 65 aB(..'.) eR aajaemt "fteise seRSiwoe" lises. When proposed projects may incur noise levels which exceed 65 dB(A) on adjacent "noise sensitive" uses, the Draft Plan (114.8) calls for analysis of the noise impacts and implementation of mitigation measures by the developer. BeelHlse effeee-oe ilftl'1emefttaaeR ef these ana e~er Raise eatemeRt ~elieies llfIa ~ragHffts iR ~e Draft PlaR 'will realiee e!Elsellg Reise 1~1€15 as l\'eY as I'K7eat sigt\ifie:ant ftthtle iRereases, He mitigaasR measures are Ileeessary. 4-229 ':1/. ~V'.'~\N o o 'The geels eE tftE: "eYer tHselissee. aBeve e.ees ftet seem te BE: Pealistk vli~ tfte elllSftRg se8"e eE tfte "fejeet; Me. tAs discussed above. implementation of polic;y 14.1.3 would not be expected to be extremely effective. Therefore, existing "noise sensitive" land uses may still be impacted by future increased noise levels. The only mitigation avail- able to reduce future noise impacts generated by vehicular traffic would be to substan- tially downsize project buildout. However, significantly reducing buildout would re- sult in a plan that would be less effective in meeting many of the City's goals for devel- opment. 4.4.4.5 Level of Environmental Significance Because the Draft Plan contains policies and programs which, when implemented, will reduce projected noise increases, the impacts are a Oass II level of significance. 4.4.4.6 Unavoidable Adverse Impacts Any increases in housing, commercial, or industrial developments will increase the amount of human activity associated with them and thus ambient noise levels will inevitably increase. h8\vt\'er, t.fle mereaae ,"Jill Be minimal. 4-230 ~.. ~ e o are restricted by the Draft Plan to a building height of two stories, thereby not exacer- bating the potential high wind hazards. Commercial uses in the downtown area of the City are not restricted by height limits. Although the downtown is not within the High Wind Area, the potential for high speed winds in that area could be increased as the construction of tall buildings create a wind tunnel effect result in nuisance type condi- tions. Any development in High Wind Areas adjacent to areas of high fire potential could result in potentially significant fire hazards if fires occur during periods of high wind. 4.4.5.3 Cumulative Impacts Growth associated with future development in RSA-29 would expose a greater popula- tion to potential structural and fire hazards associated with occasionally high wind ve- locities. Jurisdictions would need to provide development standards with respect to wind velocities, where deemed necessary. 4.4.5.4 Mitigation Measures The Draft Plan has incorporated policies 15.1.1-15.1.8 and 15.2.1-15.2.8 and programs 115.1-15.9 ,""MeR to create, as well as support and expand, building and development standards to prevent the increase of wind speeds, and the resulting wind hazards wherever, possible. The policies and programs provide for construction of buildings and residential dwellings to withstand extreme wind velocities (poli<;y 15.1.1 and pro- grams 115.1 and 115.4); prehffiit eeftaitieRs that may resl:llt in wifta aamage te SRue ftHoes; prohibit conditions related to architecture and sitinS that would be most likely to incur structural wind damage (poli<;y 5.1.2 and programs 15.3 and 15.4), and reducing adverse funneling of winds (policy 15.1.5 and programs 115.1, 115.3, 115.4, and 115.6). The Draft Plan also provides safeguards to minimize risk from fire that may spread under high wind conditions including adherence to standards specified in the Foothill Communities Protective "Greenbelt" Program (poli<;y 15.2.1 and programs 115.1-115.3 and 115.5) and the use of fire retardant building materials for development in the High 4-233 =loR _"m__._.""""""'" o o Wind Hazard Area (policy 15.2.6 and programs 115.2. and 115.3). With effective implementation of programs such as siting, design and landscaping guidelines and the elimination of unsafe structural elements, no further mitigation measures are necessary. 4.4.5.5 Level of Environmental Significance Although the Draft Plan provides policies and programs. as detailed above. to control hazards associated with wind velocities, additional development, particularly in the undeveloped portion of the northwest quadrant, could channel winds to a significant degree, increase the potential for wind related and fire related damage. These impacts can be mitigated by restricting building heights, location, and adhering to fire prevention in the High Wind Hazard Area. Consequently, impacts with respect to wind are considered to be Class IT significant environmental impacts that can be miti- gated or avoided. 4.4.5.6 Unavoidable Adverse Impacts Expansion of development into the northwest quadrant and the Hillside Management Areas would increase the population exposed to occasional high wind velocities and as- sociated potential damage. 4-234 -- ~". ;" o o co/l VI UJ>Yl C I T Y o F SAN B ERN A R D INTEROFFICE MEMORANDUM 8904-2508 I N 0 REC'O.-AD"'IH. OFF. F 1939 A?R II fi1~ 9 24 TO: FRED WILSON, ASSISTANT TO THE CITY ADMINISTRATOR FROM: T. L. CAIN, ACTING DIRECTOR, RISK MANAGEMENT SUBJECT: GENERAL PLAN DRAFT ENVIRONMENTAL IMPACT REPORT PATE: April 10, 1989 COPIES: ------------------------------------------------------------- Approval of the General Plan does not appear to pose any unusual (new and/or different) liability exposure. The "reasonable prudent" rule still applies to all acts by employees of governmental entities with certain exceptions. Your attention is invited to the enclosed Summary of 1988 legislation with particular reference to the last item. We see no significant increase or decrease of liability exposure of the proposed General Plan, --14, ()~ T'. L. Cain Acting Risk Manager TC/sf Attachment .. to ,-~.~,'-"""'~ ~ . o o X. LIABILITY/INSURANCE LIABILITY 1. Land Failure. AB 3694 Harris Cha ter 1034 Statutes of 1988. Under eXisting law, neither a pu ic entity nor pub ic emp oyee are a e or property damage or infliction of emotional distress where the private property damage WIS caused by _ land failure resulting from a natural condition of unimproved public propert,. AB 3694 provides that this immunity is not applicable where the public entity or public employee had actual notice of probable damage to private property dUlj& potential land failure and failed to give a reasonable warning to the af . .cd property owners. If such a warning is provided, neither the public entit I publ ic employee can be held liable for damage or injury arising from giv1 ~. warning. This bill amends Government Code Section 831.25. . . . _\,.. . 2. Hazardous Substance Releases. AB 3946 La Follette Cha ter 1401 Statutes of 1988. Existing law allows a property owner to see in emnity or contr tion or \ cleanup costs from prior property owners or others who, deposited hazardous! substances on their property. AB 3946 provides that any person (1.e., including. local government) who has incurred costs to remove hazardous wastes or conducted; remedial actions may seek indemnity or contribution froll any person held liable i for depositing or discharging wastes. This bill amends Health and Safety Code' Section 25363. ' 3. Police Dogs; Liability for Dog 8ites.' AB 2973 (O'Connell), Chapter 298, Statutes of 1988. This bill provides immunity froll liability for government agencies which use dogs in police work for dog bite duages if the dog was defending itsel f frOll I an annoying, harassing or provoking Ict; or the dog was assisting an employee of I' the police departllent in apprehending a criminal suspect, investigating a cri_, executing a warrant, or defending another person, However, this immunity onlJ a li es where the a enc has ado ted a wri tten 01 icy on the appro riate use 0 oQS or po ce work. his b amends Section 3 42 0 the Civi Code. 4. Immunity frOll NeglIgence Actions for Members of Advisory Bodies. AB 3992, Frazee Cha ter 490 Statutes of 1988. Under existing law, members of elected I or appointed city counc; s, boards 0 supervisors, commissions, school district, boards and governing boards of local public entities are personally immune from lawsuits based on the act or omission of the public entity. AB 3992 extends this immunity to locally elected or appointed members of advisory bodies. This bill amends Government Code Section 820.9. .' .. 53 .. Cil -," o 0 Response to Comments from: City of San Bernardino. Risk Manal:ement (dated April 10.1989) Fl Comment acknowledged. Stj ---~'--"-"-~'''~- o o CITY OF G San Bernardino 'LANNINQ DE'ARTMENT I I April 14, 1989 Hr. Joseph Gibson Director of Environmental Review ENVICOH CORPORATION 4764 Park Granada, Suite 202 Calabasas Park, CA 91302-1593 Dear Hr. Gibson: The Planning Department is beginning to shift the focus from the General Plan to the General Plan ErR as the time to review the DEIR begins to narrow. We have forwarded one comment to date and now have several more that you can begin working on. These comments will enable you to begin the changes we feel are necessary to make the document adequate. To ensure there is not an unnecessary work crunch at the last minute, we are requesting these changes and the previous change be provided to us for our review by Friday, April 21, 1989. If you cannot meet this deadline, please call us the day you receive this letter and give us the absolute date you will have the changes made and sent to us. The following are the additional changes we found to be necessary: Page 2-5: At the bottom of paragraph 2-5 the discussion of new residential units and square footage of commercial/industrial.use should be amplified by a discussion of the number of acres in each \ category that will be converted from undevel- oped status or current uses to the proposed uses. This information is in Table 2 and is I equally important to the absolute increases in homes and square footage because it provides the basis for discussion of natural resource impacts, as opposed to public utility and service infrastructure impacts. Also, to assist with an evaluation of sensitivity of converting land, a discussion or map showing the location of the increased land converted should be provided. 300 NORTH 'D. STREET, SAN Bi.ANAAOINO. CALIFORNIA 1241'-0001 "4',.4.....' . PRIDE-I "IN PROGRESS ~L~~--=i1f '2-:1. - o o Mr. Joseph Gibson April 14, 1989 Page 2 Page 2-6: Page 2-7: Page 2-12: I The land use policy map should be augmented with a map illustrating current developed areas, undeveloped areas, areas where develop- ment is designated and areas where conserva- tion uses are established. Such a map is a key communication device for the reader of the EIR. 2- At the bottom of the' first full paragraph on the page, the term "intensification" of older deteriorated neighborhoods needs to be addressed and these areas should be shown on the map discussed above to provide a sense of spatial change within the City. 3 .. This document the boundaries readers with considered for needs to provide a map showing of RSA29 in order to provide some sense' of the area being cumulative impact evaluation. 4- Additionally, we have received only one comment on the DEIR from the San Bernardino Unified School District. We have included it for your response. Please include your response ~ when you send us the above referenced changes. If you should have any questions regarding this request, please feel free to call me or Ann Larson-perbix at (714) 384-5057. Thank you. c~ ROS~~ D~ L. ER Diro~t of P1000in. mkf ---, :~ ". .,. "_ :.1,,: ; \,'. -;...... . .~'" UU",~~,~.. o 0 Response to Comments from: City of San Bernardino Planning Department (dated April 14.1989) Gl To provide information regarding the acreage of additional residential, commercial, and industrial uses per buildout of the Draft Plan, the last sentence in the first paragraph, page 2-5, will be amended to read: "In comparison to land uses and population existing in the planning area in 1987, development in conformance with the Map and associated policies and standards would result in an additional 26,028 residential units (9,001 acres), 36,551,621 square feet of commercial use (1,180 acres), 50,774,408 square feet of industrial use (1,942 acres), and a population increase of 65,070, as indicated in Table 2 (in Summary Section). In addition, Figure 4a will be added to the EIR showing existing 0987) vacant lands that would be developed per the Draft Plan (Figure 4). That figure is included in this document on the following page. G2 The EIR indicates those areas that are currently 0987) developed in Figure 5 "Generalized Land Use (1987)", p. 4-28 of the DEIR. Undeveloped areas are also indicated on this map as "vacant". In addition, Figure 4a, highlighting those vacant areas, will be added to the document as described in response to comment G1 above. Areas where development is designated is shown in Figure 4 ''Land Use Policy Map", p. 2-6 of the OEm. In order to provide more information regarding the relationship between currently vacant lands that are to be developed per the Draft Plan and the conservation uses referenced in this comment, three additional figures are being added to the Em. These include: Figure 14a. ''Location of currently 0987) vacant lands in relation to Fire Hazard Areas", ~o o 0 Figure 15c. "Location of currently (1987) vacant lands in relation to Biological Resource Management Overlay", and Figure 20a. ''Location of currently (1987) vacant lands in relation to Alquist-Priolo Special Study Zones and areas of high liquefaction susceptibility". 'nlese new figures are included in this document on the following pages. The text of the EIR will be amended to reference these additional figures where appropriate. G3 The following information will be added to the text of the EIR where indicated in the comment: ''Intensification refers to the replacement of older, deteriorated single- family dwelling units with multi-family units. This replacement of units is indicated to occur in the older areas of the City abutting, and north of, downtown. Specifically, intensification would occur primarily in the area bounded by 1-215 on the west, Highland on the north, Waterman on the east, and the downtown area on the south (Figure 4a). In addition to those areas of intensification shown in Figure 4a, it should be noted that virtually all existing commercial and industrial uses <Fig- ure 5) could potentially intensify because the existing level of buildout is consistent- ly lower than the floor area ratio allowed in the Draft Plan. While it is unlikely that most existing commercial/industrial uses would intensify their development, such intensification would be allowed given the floor area ratio established in the Draft Plan." G4 Figure 4b will be added to the text to indicate the area referenced as RSA-29. G5 This comment is included in this document as comment "C". 0(_ < .... w a: ~ (!J I&. J......,..... /..,,>\..,..)0... A... .--. .'../'1@r."...........'T Wi *\\' J f" ) '''1'' ...,]t ; r-; '10 IS .....d ~ iE i z :5 Ii. Ii: ~ c a: w c z ~ w (!J z < :z: o w en ~ c z :5 I&. o ~ a: < .. Ii: s ~ oS! l! . .. '8 j ~ ~ C I! rJ ~ ~ f if '5.- = ~ c -8 ~ .8 ::l 0 o eo m m:;J ~ t"... It. rf[ili!I!ti::;~~:~': J,,! ' .., l,.... r '.' ,;fir ....~:i f' E~ ?fAik,J ^-- I.......................L ~'~fl~llf~ i:l~'I:J .;.:.:.:.;.-.;.":-. € I-I .j::, o - ~ E ! 8 I :;) ii E I. II · a:~ ....ii 0'1: .- ~~ <.5 EI EB E -~ c o ;: ~ Ii c i ii = c -8 II a: .... o . I < . =~ E9 _0 "'J" ;;:: o i=:: ~ ~ 0: o U ~ o u s; ffi '-,Wl'd ;; I I , , \ \ (j )C" '::::i. ~~\, \, o _ 0 . . - Ii . o ~ " . " IS'.'''''' ..' .@~ '.:- :~;:::~., ','i.:; "^l ~~ 'f{""'" ,-\ ; .. ti ':':-:':jf: ::~~:::::::::::::::::::. . - ~ EB ~']. "ft c ., ... III ~. ~._- --0 :5 t !z ~ C .! U III .. ! C ill 'U .. >a:ili F:' c -J Go Ie c'! c!i go ~~>.3 Z:z:F:'5 ~~!i I I a:iL-J' i '8 Ii :) ~. :z: c; :z: uoc~ . !l !! I&.l-lD" ~ ~ 2! ozc-3! I:-! ~~ag Jj , i ~ illJ c? .llP -Ja!: w a: :) " ii: '/ . I I , I I I- I I ~~~ ~\ \',;;;;rE...... I - I I --I -..y_ I {'ot'" Il~ ..' c.,'- I l_... I " -' , "'Y"'''''M -_. -0 -.- \ '- --I -_I Vi 1'" -j e 1- z :J . ". ,- .- ,'- II !!!!Il: , / L__ /1 -, I . y' r' WI ~ , Ui J ! J . I .' ..- : " .. " .. .... I " '" I ..."., " -a -ft _0 ! 1 .. . . . .. i .. ~z ~ g ~ o &i 01 U ~ !J ::::;; ~ 0" 'Ii" ," r :=-..r=iiiitA o.n I .- I J '.W' '''' T " " -J '- -' .. ..".., ;; I D :;: oft"'. .u Iii .. W II: ::l Cl i.i: > . ...J II: W > o ~ w ::l! w Cl . Z . ~ : z U II: II! ::l II: 0 ::l013 U,..II: I&,Z...J 00. i!jj:Q !;:5g ..w...J UII:O OZ- ...J_ID lfl C z :5 ~ . U . > f;:' 1IO Cl> .. - . 'ii ., - ~C ~~ c'! M~ ~l II C.ll ~~ C · ~] Og mD o .. l s >- 01 'C l: o c -~ - Ii Ii ao 01 c I ~ ~ II II: .~ -0 'lZ ~ ~ ~ ~ 8 ~ o ~ :> as 11 '61 .S! o iii , ,.. l , 1.. II ,. '" ! i . . = .. . .. ,$-i" ''''''I ..:lJt I.y ""'" .1 ..... II i ~ III C c~ z :5 z= .. ... C !D. .li> ~ z 11I1= lI. <1 WII. S :a ZW ~ f ~ 00 . . NIIl '" ! c $; >::;) 'g .. ~ Clll c C :J ...S III ~ /- CII ::;)Z ..10.. ... ...0 C - C.., ,g :J / . 1Il- - ~ ..It; a~ u III . / CC .l! i .. . z Dill ::.~ !l ! W It W::;) ,.." l:T It 11.0 ;1 ::; III ::;) 1Il_ .c ,g 000..1 -.ll ~ 0 1&......1:1: .2'~ ';:: c ozQ~ c · :I: II. - ~ zolt:l: ~~ 0 1i W 01=11.1&. a.D ! 'S It I=ct;O g g ::;) c..l-1Il C CJ OW::;)c c:;, .-. oltOW lliJ iL ..I z..l It :;:;:::; ./ _cc .. '''W -1'4 =, -~ -I -0 IS '.'lI'lY "\jZ :2 Q ~ ~ ~ 0:: 8 ~ !.:1 ::s ~ . _ 9 ... ;li . 9 . . . . .. '''~O''''''1f IS Itid'" 0; :i ~ o. CITY OF SANaJERNARDINO - OIEMORANDUM To Brad Kilger Director of Planning COlDlllents on the "Environmental Impact Report" From Robert Ewing City Librarian Date April 19. 1989 H Subject Approved Date We have reviewed the draft of the EIR and found that libraries were not mentioned at all. The omission is perhaps due to the law that requires only certain areas to be addressed specifically. We think that in spite of the law libraries should at least be given a hearing. Attached are the pages with the suggested wording that would allow the library to be included in the report. I3d- Robert Ewing City Librarian RE:mb '-. ., ~ ;.~ ; . - '. -.- : I ~ . .' i ~ .... ~-.. t .... . .. ,j . . ~-' r~pj~ ~: I} ~989 .}x~ :"L~,~;~~.;:i'. . _ . :.~:~T ~;1?: ~~f("-.;.:,E;,;;.. .:. ~;,\ , i=RIC.-: ..* ~, :1'~1' ;;:;:.-:... -=_.~ ~ -. .11, >4. ...... ..... '_"'" .." ~ .... . I ~~\~~? . ......,.. .. ^ .. o o : 2.0 DESClIP'l'ION 01' 11.TE1lHATIVES 1'JIe thr.. alurnati.,. luu:l use plana ba.,. been fo~ated to present a rua;. of future devwl~t options. The alt.rnative. rUlC)e iD acale frea one wbida --"~_he. the pre.ervation ofe1dat1nq use. uu:lllaita develop- MIltiD ._:l.tive envir~ta1 re.CNI'Ce aren, to an option wbida pro- vide. for iDtensification iD aiati.Dq area. uu:l allows additional develop- MIlt iD hi'''ide uu:l other ~ta1ly ._iti.,. ar.... The attadaed land use plan ups depict the distriJNtion of luu:l use which could OCCUI' ~r the three alt.mati.,. plana. The luu:l use cla..U- ication depicted OIl the.e plan up. repre.ent a r&DCJll of allowable densi- ties uu:l iDtensiti.. desipdto repre.ent flmc:tiODal land use types. %!Ie.e land use classificat:tou reflect a new ayat_ of cat.gories. uu:l differ frOll the City'. ClUTant General' Plan imd z-.;..v deaic;natiou. table 2.1 presents a Ust of the land use cat.gories. th.ir a.sociated densities uu:l iDt_iti... and a de.cription offlmc:tiODal luu:l USe typ.. for eeda cat.qory. Categorie. an qenerally vrouped III'lder Residential. Co.Dercial. Bized. Induatrial. Public/OUa.i Public. and Hanaqeaent cla..- "L' ificatiODS. Under Public/Quasi Public. which include Public Facilities) ft,abl.c. , Public Parks. Public Flood Control. and Public/Commercial Recreation, it should be noted that no !!!! area. have been de.iIJDated on the alternatives ups. Aa areas of luu:l are brCNCJht IIDder public ownership, the City'. adopted General Plan will be updated tc! reflect the c.bange iD land use. Under the Hana~ent classification. Hillside HanagelleDt uu:l Floodplain Hanaqeaent catelJOries allow variable claveloplHnt densities aonq the three altemati.,... While the physical location of the.e UDa~t cateqories is prillarily the .... -V the three alt.mative.. density is permitted to vary to reflect the overall developll8nt .trateen of that altemative. l- e. -' OVerview of Alternative 1 '!'he basic land use .trateen behiDcl Alternative 1 is twofold, (1) to .i".;..;~e development iD environmentally sen.itive anel/or hazarclou. area., uu:l (2) to pn.erve the eld..tin; built environment. Thi. alternative l!.its den.itie. in area. of .ensitive habitat, hillside area. of qreater than 15 percent slope. and areas subject to flood haurd and hiqh noi.e level.. Exi.tinq re.idential neighborhooels and commercial and industrial eli.tricts an predollinately retained, with the infill of vacant parcels pendtt.d at prevailinq densities. Growth under this alternative occurs prwrily iD undeveloped areas unhindered by . environmental con.traints. and in ...,.ral node. of hiqher den.ity development permitted in the exist- 1nq bu:l.lt environment. The b..ic criteria used to define land use under Alternativ. 1 i. .. follow., o aetain mo.t eld.stinq sinqle-family neighborhood. at their existinq den.ities . o Allow re.idential neiqrllorhooels severely impacted by noise to convert to a more appropriate land u.e type. o P.rmit the development of second residential units in the rear of developed .inqle-fuily lot. in econOlllicaUy depressed neighbor- hooda. 2-1 - .. o o , f. Circulation This element establishes policy and standards for the improve~ent of streets and highways to accommodate the traffic generated by the development permitted by the Land Use Policy Map. Its principal components are a Master Plan of Streets and, Highways and implementation standards. The policy provides for the expansion of public transit, van-pools and other alternative modes of travel. A transportation systems management program (van-pools, car-pools, preferential parking, transit, etc.) is established for significant employee generators and public uses to reduce vehicle trips. The element also establishes policy for the expanded use of pedestrian, equestrian, and bicycle paths and trails. g. Utilitiet This element establishes policies and standards for the prOVISIon of public infrastructure' to support the demands by development permitted by the Land Use Policy Map. These include wastewater collection and treatment, water, storm drainage, solid waste disposal, electricity, natural gas, telecommunications, and geothermal systems. Policy provides for the linkage of the location and timing of development with the necessary improvements in the infrastructure systems. Funding for the improvements is linked on a pro rata basis to development and other beneficiaries. h. Puhlic Facilities and Services . Jib~,'.e.:s This element establishes policies and programs for the expansion of police, fire/{and J cultural facilities and services to support development permitted by Land Use and Urban Design policy. Linkages are prescribed for the timing and funding of improvements and programs necessitated by development. In addition, the element defines programs for the improvement of public safety through crime prevention and protection, defensible space, and emergency response. Policies and programs prOvide for the protection of existing and new development in areas of high fIre hazard. 2-9 3 I Ii A.. o o , and 306 acres (31.2 percent) are developed for heavy industrial uses. These areas contain an estimated 5,658,000 square feet of building area. Primarily, the industrial uses are located in the southern portion of the City and in a corridor along the west side of Interstate 215 in the northwest. In the south, industrial uses extend from Norton Air Force Base in the east to Rancho A venue in the west. Many of the uses in the latter area were developed to take advantage of their proximity to the rail transit opportunities provided for by the Santa Fe Railroad yards and lines. Industrial uses east of Interstate 215 are widely scattered and only a few are functionally related to the Air Force Base. Largely these have developed in lieu. of other uses in areas subject to the Base's high noise impacts. In the northwest, industrial uses have developed along the Interstate and railroad lines. Sand and gra~el extraction industries have been developed in the resource-rich Cajon Creek flood area. Research and development light industries have, largely, been isolated to the Tri- City /Commercenter areas in the south along the Interstate 210 corridor. Public and quasi-public uses represent the second largest category of use in the , planning area, other than streets and rights-of-way. They occupy 3,627 acres; or 14.9 percent of the area. These include a wide variety of governmental buildings, schools, and other public uses. The two private hospitals are, also, included in this category. The public uses are dispersed .thrqughout. the planning area. Many facilities, in I ~ p...bhc.. It Dt"'Q.f".c.s) particular schools^, are located to be easily accessible to adjoining residential : neighborhoods. The largest single concentration of public uses occurs in the downtown area, which contains City, county, state, and federal office buildings. The San Bernardino campus of California State University is located in the northwest and the San Bernardino Valley College campus is located in the southwest portions of the planning area, respectively. Patton State Hospital is located in the northeast, Saint Bernardine Medical Center and the County Medical Complex are located in the central area, and Community Hospital is located in the west. Other significant public and quasi-public uses in the planning area include Norton Air Force Base in the southeast, 4-30 ..'."- ,.- . iii -- II -- ,- i. l~ . . - II . 4- .. - ftlllf:. o o , 13. Norton Air Force Base, while a major provider of jobs, has substantially impacted adjacent uses due to its on-site Operations and noise. It is anticipated that the fadlity will be dosed imminently and the future use of this significant property will have to be determined. 14. The Santa Fe Railroad yards, historically, have influenced the development of the City's west side; stimulating the development of extensive rail-related industrial uses. Over the years, many of these have become obsolete and have not been replaced with more modem facilities. This, coupled with the noise impacts of the railroad, have resulted in deteriorated conditions. 15. The National Orange Show property, physically and functionally, is an isolated "island", unrelated to adjacent properties, and is sporadically used throughout the year. When it is most intensively used, its traffic significantly impacts adjacent streets and commercial uses. 16. The California State University San Bernardino campus, physically and functionally, is an independent "island" in the northwest of the City. It has impacted adjacent streets due to student and faculty traffic and areas by the development of student- serving apartments and condominiums. 17. Many recent multiple-family residential units have been poorly designed and constructed, containing few amenities or open space. 18. The City contains few housing units oriented towards higher income individuals and families who may work in the City. 19. The City contains many well-developed and used neighborhood and community parks. However, there are few linkages to and recreational use of the natural open space amenities which surround and bisect the City. ~ 0, S~~ <<iio.c.k &4C,.. ,. _, Co ~ 4-36 . ,*,--V~ ~. -- r'~ , - III .. ~ .JIII - . G_ Itt. ,.' II _ .I o o 20. The City cont<lins four br", :ch libr~ries and a Cel!tr~ library. The Librar~ ?:an calls for 0.75 sq. ft. of library space ~er citizen. Growth areas where access to library services is limited or non-existant include: the northwest section of t~'e city (State University II: 'Terde:::ont), the east section of t~e City ( relocation of the Coddin;ton Branch :ibrar"J' is s'l.~ested, and the Inghram Brar..ch Libr'U"J' service area (ll~adequately served b:' a 3500 sq. ft. f:l.c::.lity. ,/' 'J 21. Land use dev~lo~Je~t.... be reLucceredo O~ext r-~~e, 4-37, woul~ ~~ed to , J( -36 02. - - - III 0 " o !k ...,.. Land use development is impacted by the presence of significant environmental resources and hazards. The mountain foothills contain extensive and important riparian habitats and scrub lands. The Santa Ana River, Cajon Creek, Lytle Creek, and tributary drainages contain significant habitat and pose a flood hazard for development. The City is crossed by the San Andreas and San Jacinto fault systems and a large area is subject to a high liquefaction potential. The northern portions of the City.are impacted by a high wildfire and wind hazards. 4.L1.2 Project Impacts Implementation of the policies and standards of the Draft Plan will result in the (a) preservation of existing residential neighborhoods and commercial and industrial districts which are physically and economically stable and of value to the community, (b) preservation, enhancement, and expansion of public uses' and parklands, (c) development of vacant lands for residential, commercial, industrial, public, recreational, and other uses, (d) infill of vacant parcels within existing districts and neighborhoods with similar uses, (e) intensification of the intensity I density of development in areas characterized by physically and economically deteriorating uses and mixed patterns of development, and (f) recycling of areas of mixed use for a consistent use. Development in accordance with the Draft Plan (Figure 4) will result in the construction of an additional 26,028 residential units, containing a population of 65,070 persons, 36,470,175 square feet of commercial use, and 50,774,408 square feet of industrial use. Table 8 indicates the increases in development which wiUoccur on buildout of the Draft Plan. In addition, public uses, including governmental administrative and service facilities, SchoolsU,~'If,I~ftu-al facilities, and similar uses, will be expanded in the planning area. These specific locations are not depicted in the Draft Plan, because of the potential for property condemnation for public use. However, policies and standards contained throughout the Draft Plan provide for their development and distribution. For example, the Draft Plan establishes an objective for an additional 507 acres of parklands to serve existing and future residents. Street and highway improvements, 4-37 (, I -- . . o o accomplished by the limitations on use and development standards specified for "Light," "Heavy," and ''Extractive" industrial areas. Presently, many of these areas are characterized by an extensive mix of uses which often are incompatible with one another. The presence of commercal and residential uses in a number of areas compounds these problems. Long-term development for consistent uses will lessen the incompatibilities. b. Areas along Waterman Avenue will be developed for "Office Industrial Park" uses on implementation of the. Draft Plan. This will accommodate a mix of light industrial, research and development, corporate office, and supporting retail uses in an extensively landscaped park-like setting. Such development is a reflection ot the current trend in intermixing offices and industrial in business parks throughout California (e.g., Irvine Industrial Park). The uses and developmen! standards prescribed by the Draft Plan will considerably improve the physical and visual quality of this corridor, which currently contains an unattractive mix of industrial, commerdal, and residential uses. Co Implementation of the Draft Plan's polices and standards will increase the compatibility of heavy and extractive industries with adjacent land uses. Polices for property setbacks, visual screening, noise and air emission controls, and other buffering elements will enhance their compatibility. S. Public Use Areas a. Implementation in accordance with the Draft Plan will result in the continued use, enhancement, and expansion of public uses and fadlities in the planning area. The _ Draft Plan polices will result in the development of additional parklands, h~~cvemmental administrative faclities, police and fire stations, hospitals and other health care facilities, utility corridors, flood control improvements, and other public 4-46 .. -- II II .. . . [II . . . . 1- o o budget cuts have limited the ability of the Districts to construct these new schools and revenue generated from developer fees (Assembly Bill 2926) are an inadequate supplement. 4.2.3.3.2 Pm;ect Impacts Given maximum buildout of the Draft Plan, 26,028 housing units would be added to the housing stock of 1987. This would be expected to generate 14,168 additional students, based upon student generation factors supplied by the San Bernardino City Unified School District (Table 20). This 38% increase students resi~g in the City would be expected primarily where the greatest increase in housing will occur: in the downtown area of recycled and intensified housing, and in the major infill areas of the northwest quadrant. This will result in impacts on the Rialto Unified School District as well as the San Bernardino City School District. 4.2.3.3.3 Cumulative Impacts ,The expansion of the student population in the City of San Bernardino will have its greatest cumulative impact on the RiaIto Unified School District because of this District's proximity to areas of future development. Based upon San Bernardino City School District's generation factors, the proportion of students from San Bernardino attending Rialto could increase by as much as 70%, further aggravating Rialto's cW-rent overcrowding problem. Other adjacent school districts may be affected as well, however, to a lesser degree: Colton Joint Unified School District is not adjacent to any major housing intensification areas and Redlands Unified School District is adjacent to an area of future industrial! commercial development. ',p' . . -Aon;"- -.....-ul.-.........n Lib -~. ~"'c'li.l.":.as ,,,.;"!j,, "";3e1 to :.:e~"j ';'E'~ce '../:'..11 04ri.1:. .. ......J _....~ ~........., :-:l.. J J..~... _ _ _ . __ . . . . -.... b-.; c "'c-"oc' ~ 'ind i:: "')ost seconi:lZ":!" ~':t'lC~t:;,..:;~. ir.c~u:!u; stun '=::...5 J.n ~u __ .~ u _ _ . ~5 - it ,ar ~~div'd~~ and Tho!! ~lJD!.=-C Lib:-;rJ Fl~ C".u!.s l~r . I ~o. .: _ __.. _ . ... .. ., ~'/O b-:-cks !,er ~:l_J.VJ.._U.u.. 4-150 B . . - .: ~ 8 - 3 ~ ~ o :c .:; r'5 -=:> E ; !!- <- .. .. UJ .! ~ :!l; ..~ !! . <~ ~tjl > 0 -= .. EU !! ~ -q < -~ .~.:: e .. Il. E o~ Z<I o - .. ... 8- .... 0.. .5 fa Q. e.I a ~ _ :0 E ~ o c c 0._ =o.-cn!n ~5~c~ ~"Oo.2c..- GI-~-(J- Z .... .. c ~ :> i-;;;._ .. = $/ .. .. c 51 ,.; .. C Q,. ta -","-B';~ .:: .. Q..- '7 CJ C co ~ "'C ..,.s ccc"<>!-,,; .= Q'O'o I:l:; 8 51::: o.-tJ._ ""CI~Ct;:.::~ !-oo.!2'Cj'ECJ "~~:;5.co" Z:>i-;;;..Vi.5 - .. ... 8- .... 0.. C ~ 0.... = .- cs III E .. C :J _ c = c Jl .: ~ o'eD lJ - E c c' .. '" f:I ~ 0 ~ ~"Eo::~~ QI QI ~ ~ ~ ., Z:>i- ;;;.:;;; - .. ... 8- .... 0.. c ~ 0.... = - .. .. E .. C_:.I C C ~ C C ._ =O'-U1", ~ Ere 51 Co! _ _ cs ~~ c.:~::: II c:; ): to ~ to Z:>i-;;;._;;; c -~~ .. c .. ."s.E-~ c"'K.'=a." 'c :; :0 "5 G.~ .g~.5~1l=~ ~E~.~e.~ IIICJG.lCCS:'::~ ~'E c.g'~'c 51 Z.. ~ ~ ~ ~.~ c ",.- en 11'1 V'J._ i:; :! c . .. c ~ K... -to ~ c_!:Ec':; c c c 0.__ -= Q '0'0U'l .. .. ~ccc5!t: .. .. 0 .. 8- ~'EC=~o.. GI Co! ~ fa ~ := Z:>i-;;;._ .. J ! '" ~ '0 .~ lfa ~Vi 0- - c 5 ;:: 10 Vi "fi -- c .."..c:.2 iii . .o.ft__ - '6 '0 ~'6 )1 :!"c..c:""c ,g"'5.A...u -.. ""_ r") '" '6..~ l!.n ~ ." .... oc 0 - I'l:I ..!!:a'=ihc ... C_ .-- CoI R~:!:ggE ",.i!c,,'5.s1 -"'::C")lIIlU - c 5 - 10 Vi ..~ .!'J ce..!. :.... -.J. g;;:":l ... j:g'5.!:i.'g~ -ftlWlI_&I'\CI '6N~l!c::iE .,,:~COCN.. .. :11._ ...._. -..c'= fA II '" N~;;'68;;8 '<<!.~g'g~6~ S::'iQ=aob:=~ = 5 ;:: 10 Vi .. - j ~ l! '6:11 "c ,g~~;;:II .: OIl c ,." ." ("If'- 0 '-' "a .....c..: ftI ... ~ .,:.-- C '-"0 C NCJ-"t:Ic" ~"'l!"E .. ::::lI 0'" CI ,..U;::oci"U ;::1'\ c e 1 Vi - c 5 fa Vi or -,j i s'6:11 ~ ='gfa~ :II ."N'- 0 ~ "0 .",.c:: ftI fa.!! ..:._- c '-"0 C -C"I-"''' ~"'l!"E '.i! O"l .. S!.,.::",Qi ~ v - c 5 - .~ Vi or ;;.J. '0..: ,." c"'C~.- "" .S! "'C vii.... to ~ fa "" C..!! c ' :g.. ~ ~:~ ~!! . C -~."uii.. 5 lIa~;;""Oi'O ;:: C")."tJ c ....c:... 0 C .... .i! 0 '" '!.ON '€ .!.O .."';ClD..c:...."" (,I) ;; j.J. '~t- C .t:"'C:J :eta I ""_c -"~"'c _ ,.. DOftI CoI ." at-: -.., e "C .,.: N..c: - CI ..vt._...a.:..._ .~ C "0 .!! '-.!! CI.!! J = ~~'gg~8~g~ III t~~~.g~.g~f e = III .. o Il .! C " ." III -0 - ~ ~ '0 .~ ]~ .5-ID - c .~ - .~ Vi .,; '" .. .. _0.. 0_ :0 :! .. 0 u .- .. .: ~:g ..... - c .~ fa Vi .,; '" .. - .. Co.. ~;; u C ".s <8:; "':,." -.. .,; '" .. _a 0_ g.~ .. .: ...." "'." .... .. - c 5 ~ III III 'l! _a c_ .. .. .. c b.2 .. .: ~~ III '" .. 'Oa OI- l!! .. u c ...S 100.-:: -":l '<<!.~ -.. III 'l! _a 0_ Ill! c.2 .. .: -" ..." ...... ." Il 5~ .. 115 la .. llod' = e ;:: 'c co Vi I I I = e ;:: 'c 01: Vi I . C 5 ;:: .~ Vi . I I - c 5 ;:: .~ Vi I I I = 5 ;:: .~ Vi J ~ - - J :II .. o ~ -5 c._ ]} .' . -. . t. o 1 '" ~ i] o ---- ~ '" j; .:> .--! .... . ...., ~:.... ...., c: ~ .n ~ " "= ~ r;: ~ :i ~ '= ~ . i:. -. +' " " " '::; :; ~ .} ~ '0 ~ ~ ~ .. tJ ,~ > ... " ~.~ v ~ ~~ .;; :..:: ',' ~ ~~ ~ - ~ 4) :; ..... .~ ;..~:; > -::' .~ - ;.. .: ''; = '-'- ~ .. ~ i: " ... >> ., !... . " .., r:: ~. .. ~:; .Q - '~ " >~ c .~ ~ .., - - . . - .;:; iJ ~ -:: .3 -Uo f t:"4'\Lo ~..... ~ . ~ ~ =-J.;:; .... 0:..... """ ~ _ G ;::I:; Co..t:: = u...: . r- ~-: :: c >a i C'" 0 !'"'1 c: ~ ~ :II ::'" > 1) .:... u ~~....:O'-~::;: ... X Q . :: '~"f"'4 ~:"_~':'l=- _ (,) -;J -;,.\ .. ~ ~;:o.....'::>"C .~. :aJ_.....t_r""'t:: to, ::: 0: " 1! <:: () .., " ..- <. g :;:; ... .- ... OJ .~ g .:.:~ ~"3 ~ =:; :.:' - " -.) -. C-? '"'; .1. ~:-_.,...., ~ ? "= ... Z ~ - <; ::\: '- .: ~ ~ ~ ". :, ~~ ~.. ~sJ ..:;:..~ ~ :-. ;.. '" .~ ,JJ '"'! ." .;: >> '..~ .... . '-1 _ :.. - "... '! .~ '2. .~ o :.r. .A^ o o Response to Comments from: City of San Bernardino. Cty Librarian (dated April 19, 1989) HI The potential impact of implementation of the Draft Plan on area libraries was not addressed in the Draft EIR because it was not indicated as a topic to be considered per the City's Initial Study. However, the information provided in this comment with respect to libraries will generally be included in the Fmal EIR, as specified below. H2 This comment refers to p. 2-1 of the "City of San Bernardino General Plan Update, Land Use Alternatives Working Paper", March, 1988, included as Appendix D to the Draft ElR. That document stands as previously prepared, and it is not within the scope of the EIR to make any changes to the .....Alternatives Working Paper" document. H3 The change reflected in this comment will be incorporated into the Final EIR. H4 The change reflected in this comment will be incorporated into the Final EIR. H5 The following information will be included in the Final EIR, immediately preceding Section 4.1.1.2: "20. The Cty contains one central library and four branch libraries. However, access to library services is currently substantially limited in the northwestern and eastern sections of the City." The following paragraph will be renumbered as #21. H6 The change reflected in this comment will be incorporated into the Final EIR. H7The change reflected in this comment will be incorporated into the Final EIR. H8The following information will be added to Section 4.2.3.1 (Existing Conditions, Education): 'The City of San Bernardino Public library System includes one main . o o and four branch libraries. The system contains holdings of approximately 260,000 books, with an annual circulation of 250,000. The central library is one of the largest in the Inland Empire and attracts users from throughout the region". The following information will be added to Section 4.2.3.3.2 (Project Impacts, Education): "Increased population growth will also result in a greater demand upon library facilities. The Public library Plan calls for 0.75 square feet.per individual and two books per individual. To meet these objectives, implementation of the Draft Plan would necessitate an additional 48,800 square feet of library space plus 130,140 additional library volumes." The following information will be added to Section 4.2.3.4 (Mitigation Measures, Education): "Policies 8.12.1 - 8.12.8 address the adequate provision of library services and facilities to City residents. The topics addressed by these policies and implementation programs 18.37, 18.38, 18.41-18.43, and 18.46 include the construction of new libraries and expanding existing facilities as required to meet demand, acquisition of books, literacy programs, and funding for library facilities and activities. " H9 Although this comment addresses Table 29, it would be more appropriate to add information concerning libraries to the Education section of the Summary Table (Table 3). The following information will be added to Table 3 under the topic "Education": "Impacts: Necessitate an additional 48,800 square feet of library space plus 130,140 additional library volumes, per the Public library Plan. Mitigation Measures: Plan incorporated measures include policies and programs with respect to the construction/expansion of libraries as required to meet demand, acquisition of books." . -.. ~ o o I " C I T Y OF SAN BERNARDINO INTEROFFICE MEMORANDUM 8904-601 n I!!) . ..... . . ~ i ~... ..". ~ r:': ,-. i .~ r-: ~ -- ~ n iI' L.. ; -- ..- - . ...~ APi{ :!', 1989 TO: Brad L. Kilqer, Director of Planninq CiTY Fl;~~.:i.jb~; -:- .... . .:-;0' :~~ r .:r.r.J !:'-r~:., ro,".'.' r. "'r'u ;..te,'I..,.:.,;1 ,~. v,l FROM: Charles P. Dunham, C.E. SUBJECT: General Plan Draft Environmental Impact Report DATE: April 21, 1989 COPIES: Vincent Bautista, James C. Richardson ------------------------------------------------------------- The fOllowing comments as to the revi ew of the EIR are stated: Page 4-231, Subject 4.4.5 wind, strike out in the third paragraph the words, HIGHEST WIND FACTOR AVAILABLE, and insert EXPOSURE "C" GUST FACTORS. Page 4-233, First paragraph, change the word RESULT to RESULTING and insert at the end of that sentence, IN ADDITION TO INCREASE WIND EXPOSURE FACTORS IN THE UNIFORM BUILDING CODE. \ ~ d'~. Plan Check Engineer Imes .' ._to!. ~ .: I . I I I I J I . . I I ! , o o 4.4.5 Wind 404.5.1 Existing Conditions The Cty of San Bernardino has historically recorded wind velocities high enough to cause structural damage. Highest wind velocities occur during Santa Ana wind conditions in the downslope canyons. These winds blow from the north through the mountain passes and canyons and dissipate as they spread across the valley floor.. These Santa Ana winds generally coincide with the period of highest fire danger in the adjacent San Bernardino Mountains. Wind velocity is recorded at the weather station located on Norton Air Force Base in the southern portion of the Cty. Between 1946 and 1985, the average wind speed was 49 knots (56 mph), with a high of 69 knots (79 mph) in 1949 (refer to Table 66 in the TBR). Wmd speeds can be expected to be even higher in the Cty's northern foothi11s. Because of its high wind velocity potential, the northern portion of the City has been designated as a ''High Wind Area" (Figure 26) with stringent development construction standards. fO! example, ~e City of San Bernardino Building Department uses the . " _l':~l!I~ . . b.._l_. .....il..le in the Uniform Building Code to ensure that cross bradng C......cxf.lo~~(..,..:. "C' t.,':..-~~ ~;" :'':'''~'t...I!''... in waIiS and nailinischedules are adequate to withstand potential high winds. 4.4.5.2 Project Impacts The Draft Plan provides for residential and commercial development throughout the Cty including areas of high wind susceptibility. Residential development in the High Wind Area could subject houses and apartment buildings to conditions that may result. in minor damage to roofs, fences and windows. H appropriate building standards in High Wind Areas are followed, no substantial structural damage should occur as a re- sult of high wind velocities. The commercial uses provided for in the High Wind Area 4-231 1111./_ , . " I I I I I I , ~ I I , , ! I - .J1 o o . are restricted by the Draft Plan to a building height of two stories, thereby not exacer- bating the potential high wind hazards. Commercial uses in the downtown area of the City are not restricted by height limits. Although the downtown is not within the High Wind Area, the potential for high speed winds in that area co~d. be increased as the construction of tall buildings create a wind tunnel effect resul~uisance type condi- tions Any development in High Wmd Areas adjacent to areas of high fire potential COul~:~t :: potentially significant fue hazards if fires occur during periods of high win~ '~,.'ltJ i\c;',i::;(\ 'Ie J...JC~ep.-::.c.' Wi,\.lL) c:"'~~;,;~:-r. F-fY.I(,!I<:$ 2.. ,,,- ~ \t'>.. :,,, ; \-'IE: \J~\~~'" ,J\ll!....vi..:.f 4.4.5.3 Cumulative Impacts .'.:..,\i . Growth associated with future development in RSA-29 would expose a greater popula- tion to potential structural and fire hazards associated with occasionally high wind ve-' locities. Jurisdictions would need to provide development standards with respect to wind velocities, where deemed necessary. . 4.4.5.4 Mitigation Measures The Draft Plan has incorporated policies and programs which create, as well as support and expand, building and development standards to prevent the increase of wind speeds, and the resulting wind hazards wherever possible. The policies and programs provide for construction of buildings and residential dwellings to withstand e.xti-eme wind velocities; prohibit conditions that may result in wind damage to structures, and reducing adverse funneling of winds. The Draft Plan alSo provides safeguards to mini- mize risk from fire that may spread under high wind conditions including adherence to standards specified in the Foothill Communities Protective "Greenbelt" Program and the use of fire retardant building materials for development in the High Wind Hazard Area. With effective implementation of programs such as siting, design and landscaping guidelines and the elimination of unsafe structural elements, no further mitigation measures are necessary. " 4-233 lOT m o o Response to Comments from: City of San Bernardino (dated April 21. 1989) n The change reflected in this comment will be incorporated into the Final EIR. 12 Then change reflected in this comment will be incorporated into the Final EIR. 1M '- J 'CITY OF SAN EQRNARDINO - ~MORANDUM J To Brad Kilger. Director of Planning From Annie F. Ramos. Director Parks. Recreation and Community Services April 21. 1989 , ~ s, ;t GENERAL PLAN DRAFT ENVIRONMENTAL IMPACT REPORT-REVIEW Date Approved Date I have reviewed the Draft Environmental Impact of the General Plan and find that the Parks and Recreation and the Open Space elements have been adequately addressed. If you have any questions on this. please call me at your convenience. ~ ) /? f.l::1uW 7'-- 7...(t:.~<cc"", ANNIE F. RAMOS. DIRECTOR Parks. Recreation and Community Services AFR:fw i. PRIDE -t "... IN PROGRESS .. Ll .L ~,,,,"--,,(I ---..:.:~.J;;: I In<\ .l> o 0 Response to Comments from: Citr of San Bernardino: Parks. Recreation and Communitr Services (dated April 21, 1989) Jl Comment acknowledged. "" .... - C I T <;> 0 F SAN B ERN A R 91 INTEROFFICE MEMORANDUM 8904-1427 N 0 CORRECTED COPY .T-O: --- Brad Kilger, Planning Director . FROM: J:(l.mes C. Richardson, Deputy City Administrator - Development Services SUBJECT: Draft Environmental Impact Report (EIR) DATE: April 24, 1989 COPIES: Mayor Evlyn Wilcox, James Robbins - Acting City Administrator ------------------------------------------------------------- I would like to offer the following comments on the Draft EIR for appropriate consideration: Paae (D.) p. S-9 p. 5-14 p. S-14 p. S-15 p. S-16 p. 2-3 to 2-14 (Land Use) Mitigation requiring developers to provide relocation expenses could make infill housing and development cost prohibitive. The use of RDA 20% set aside funds, CDBG funds or other public funding should be used to help at least in part as an offset. (Police) Mitigation through coordination of security patrols will be difficult to achieve, as this will entail control of the private sector. (Fire) Mitigation for an annual assessment of fire services indicates no basis for review, such as review for residential or commercial structures, response time, damage or loss of life. (Education) An annual assessment of educational facilities which address the condition of buildings and not necessarily the capacity of schools. Residential development impact fees are already required, thus, not a "non-traditional" funding source. (Biology) Formation of committees for open corridors not listed in draft General Plan, thus, implementation measure not clear. (Project Characteristics) The description of the Draft General Plan seems particularly brief considering its complexity and detail. K <- 2- 3 + l 6 o " , .. o INTEROFFICE MEMORANDUM: 8904-1427 Draft Environmental Impact Report (EIR) April 24, 1989 Page 2 o p. 4-1 to 4-24 (Analysis of Environmental Issues) The chart notes direct and indirect impacts of various policies, but does not indicate the degree of significance of the policies. (Housing) Although the removal of older housing can reduce the amount of affordable housing, offset can be achieved by encouraging new rental housing which could help mitigate the adverse impacts noted. (Historical and Archaeological Resources) The circulation impact caused by vibrations on structures can be mitigated by a program of rehabilitation, preservation and retrofitting of older homes and structures. p. 4-63 p. 4-70 p. 4-109 (Circulation and Traffic) Shuttle service between downtown and Tri-city should be the responsibility of OMNI TRANS. p. 4-111 (Circulation and Traffic) While there will be an adverse impact with full build-out, mitigation measures as outlined should help to some extent, and this fact is not reflected. Recommendations to widen the North/South and East/West corridors are . not set forth in detail which would help in mitigation. p. 4-146 (Fire) provision of additional fire fighting or fire prevention personnel not set forth, which may further mitigate to Class III level of significance. p. 4-154 (Parks & Recreation) Acquisition of 781 acres (A) of parks should mitigate to a Class III level of / significance or better. The future need is referenced as 1302 A (4.2.4.3) but in fact is 781 A, which does not include 521 acres of existing park land. p. 4-176 (Air Quality) Much of the air quality problem in to 177 the planning area originates in Los Angles and Orange Counties. This fact is not adequately recognized. That is, greater attainment levels in the L.A. Basin would help San Bernardino. An aggressive pursuit of the regional "Jobs-Housing Balance" policy by SCAQMD could help mitigate the level of significance of our air quality problems. p. 4-233 (Wind) Mitigation measures to prevent a wind tunnel effect in the downtown area needs greater detail and specificity. {,~ \ B q 110 - I' /\ 1'2- 13 f1 \ . b Il'l o o INTEROFFICE MEMORANDUM: 8904-1427 Draft Environmental Impact Report (EIR) April 24, 1989 Page 3 . . p. 7-1 (Growth Inducing Impacts) This section provides good general comments but not sufficient detail to set forth justification for overriding consideration(s). Appendix C (Responses to Notice of Preparation) Written comments by the Archeological Information Center (2/7/89), San Bernardino County Airport Land Use commission (2/8/89), City of Lema Linda (2/13/89) San Bernardino city Unified School If District (2/15/89), Forestry and Fire Warden Department (2/23/89), Federal Emergency Management Agency (2/21/89), California Regional Water Quality Control Board (3/3/89), California Department of Transportation (3/8/89) and City of Redlands (3/8/89) should be addressed and responded to. I~ Appendix D ("city of San Bernardino General Plan Update, Land Use Alternatives Working Paper" -Karch 1988) Data is provided on alternatives A, Band C but not for the no project alternative. Additionally, similar data should be supplemented 18 for alternative H, draft plan variation land use changes, as well as for alternative for the Draft General Plan. The attached Appendix A for the Karch 1988 Land Use Alternatives Working Paper provides information on fiscal analysis data. The physical impact data for alternative H, as well as the Draft General Plan, should be included to properly review these two alternatives. S C. RICHARDSON, uty City Administrator - Development Services mtb 11'\ o o Response to Comments from: City of San Bernardino. Development Services (dated April 24, 1989) K1 The following will be added to Section 4.1.1.4 "Mitigation Measures, Land Use" under item #1: "The City shall also explore the utilization of Redevelopment 20% set-aside funds, Community Development Block Grant funds, or other available public funding sources to offset the relocation expenses that developers would be required to pay." K2 Implementation programs 18.6-18.8 discuss Neighborhood Watch programs, early intervention programs for youth, and the coordination of private security patrols and crime prevention activities. The coordination (not control) of these private sector functions has been successful in affecting crime rates in many communities. K3 The referenced mitigation measure refers to implementation program 18.13. This program provides an explicit list of items to be considered as the basis for review including number, types, and geographic concentration of fires; amount, types, and cost of damage; emergency response times; and quality of equipment and facilities, among others. K4 This mitigation measure refers to implementation program 18.20. The annual assessment in question refers to "the adequacy of public educational facilities in meeting the needs of the students and population in keeping pace with population growth." With respect to non-traditional funding sources, the text will be changed to read: "Key programs of the Draft Plan include annual City assessment of the adequacy of public educational facilities. Should deficiencies occur and traditional revenue sources be unavailable, the City would consider alternate means of funding, e.g., additional fees on residential development." K5 Policy 10.4.1 states "Initiate a study to determine the feasibility of establishing a contiguous open-space corridor which would connect the Cajon Lytle Creek wash I I ., J ,l. o 0 to the publicly owned National Forest lands via Cable Creek and/or Devil's Canyon." Implementation programs 110.6, 110.7, and 110.9 provide for the establishment of a committee to research the situation and consider mechanisms for funding. K6 As discussed in the project description section of the Em, the Draft General Plan contains 70 goals, 171 objectives, 836 policies, and 465 implementation programs. As indicated in this comment from the Oty, the Draft General Plan, is indeed a very complex document. The purpose of this section of the EIR is to describe the organization of the Plan, the general scope of the various elements, and the overall land utilization changes expected to result from implementation (i.e., increased residential, commercial, industrial uses, and associated population). Detailed information about the Draft Plan is presented in each topical section of the Em, as needed to discuss impacts and related mitigation. K7 The purpose of Table 5 is to indicate the general relationship between each of the Draft Plan's 836 policies and the 23 topics of analysis discussed in the EIR. Information provided in each of the individual topical sections includes a more detailed discussion of various policies and groups of policies, as appropriate. It is not the purpose of the EIR to provide a complete analysis on a policy by policy basis, but rather to provide a thorough environmental analysis on a more meaningful topical basis. K8 As indicated in section 4.1.2.2 of the Em, the Draft General Plan does include policies to aid in offsetting the anticipated loss in low-income affordable housing. However, the comment referenced on p. 4-63 of the Draft EIR expresses the conclusion that even with implementation of such policies (including encouraging new rental housing), the City will experience "a net reduction in the amount of affordable housing available to the City's lower income residents." IlCi . e o I<9 The following information will be added to Section 4.1.3.2 "Project Impacts, Historical and Archaeological Resources" in the paragraph that begins "It should be noted that...": "Damage to historic structures can also result from poor air quality which can degrade the structure's exterior surface and from vibrations (resulting from increased traffic volumes) that could weaken the structure's foundation .and framework. An increase in population would be expected to proportionally increase visitor-use days, adding incrementally to monument destruction." The following information will be added to Section 4.1.3.4 ''Mitigation Measures, Historical and Archaeological Resources": "The circulation impact caused by vibrations on structures could be mitigated by a program of rehabilitation, preservation, and retrofitting of older homes and structures where it might be needed as determined by guidelines of the Historic Resources Commission (to be established per implementation program 13.2)." KI0 This comment expresses an opinion on an implementation program in the Draft General Plan, and not on the EIR. Kll The text does state, in section 4.2.1.4, that while full buildout of the Draft Plan would result in significant circulation impacts, the Draft Plan Circulation System is designed to accommodate as many of the anticipated project-related impacts as possible, primarily through reclassification of a number of key roadway segments within the City. The reclassification and associated widening of those north/south and east/west corridors have been described on Table 14. All other streets shown as part of the circulation plan (Figure 29 of the Draft Plan), were also assumed to be built to full design standard. K12 The Cass II Level of Significance with respect to fire protection services reflects not only the level of provision of rlJ'e fighting personnel and equipment, but also the natural fire hazard of the area resulting from proximity to wildland areas and II, - - o o wind hazard. As indicated on p. 4-146, this represents a significant fire hazard. Consequently, even though mitigation measures have been identified, impacts associated with fire protection services are designated a Class II, and not Class ill, level of significance. K13 The distinction between Class II and Class ill levels of significance refer to whether the impact is "adverse" (Class ill) or "significant" (Class II), defined in CEQA guidelines as "substantially adverse". Impacts associated with both categories can be mitigated. As discussed in section 4.24.2, San Bernardino's future total need for parkland given implementation of the Draft Plan would be 1,302 acres (781 acres in addition to the existing base of 521). The sentence in question in section 4.2.4.3 will be changed to read "... the City of San Bernardino's total future need (an additional 781 acres plus the existing 521 acres) represents 40% of this total." K14 Section 4.3.2.1 of the Draft EIR states 'Winds are predominantly from the west during Spring, Summer, and Autumn... Warm temperatures and a persistent inversion frequently cause pollutants in the South Coast Air Basin to collect near San Bernardino." In Section 4.3.2.3, the Draft EIR states "Pollutants are frequently transported to the San Bernardino Valley from the San Fernando Valley, the San Gabriel Valley and the greater Los Angeles Basin." The Em's discussion of air quality indicates that mitigation measures include policies to minimize vehicle travel (e.g., proximity of housing and work). K15 Section 4.4.5.4, "Mitigation Measures, Wind" will be amended to read as follows: ''The Draft Plan has incorporated policies 15.1.1-15.1.8 and 15.2.1-15.2.8 and programs 115.1-115.9 to create, as well as support and expand, building and development standards to prevent the increase of wind speeds, and the resulting wind hazards wherever possible. The policies and programs provide for construction of buildings and residential dwellings to withstand extreme wind velocities (policy 15.1.1 and programs 115.1 and 115.4) and prohibit conditions ..- Jj o o related to architecture and siting that would be most likely to incur structural wind damage (policy 5.1.2 and programs 15.3 and I 5.4). "Policy 15.1.5 and programs 115.1, 115.3, 115.4, and 115.6 address the reduction of adverse funneling of winds known as the wind tunnel effect. These programs incorporate into the City's Development Code the siting of structures so that they do not "funnel", "eddy", or intensify wind effects on adjacent properties, on public open spaces, or in pedestrian passageways, and encourage strategies to create wind-sheltered entries and outdoor spaces in the grouping of buildings. 'The Draft Plan also provides safeguards to minimize risk from fire that may spread under high wind conditions including adherence to standards specified in the Foothill Communities Protective "Greenbelt" program (policy 15.2.1 and programs 115.1 - 115.3, and 115.5), and the use of fire retardant building materials for development in the High Wind Hazard Area (policy 15.2.6 and programs 115.2 and 115.3). With effective implementation of programs such as siting, design, and landscaping guidelines and the elimination of unsafe structural elements, no further mitigation measures are necessary." K16 ~ Section 15126(g) CEQA requires the EIR to discuss the "Growth-Inducing Impact of the Proposed Action". This section should address ways in which the project could foster economic or population growth, the construction of additional housing, community service facilities, and indirect impacts of the project. All of these items are referenced in Section 7.0 of the EIR. CEQA requires "the decision- maker to balance the benefits of a proposed project against its unavoidable environmental risks in determining whether to approve the project." (Section 15093(a), emphasis added) It is not the responsibility of the EIR to "set forth justification for overriding consideration(s)". K17 The responses to the Notice of Preparation sent out by the City of San Bernardino indicate the jurisdictions'l agencies' concerns that they would like to see addressed I't !l1 I o o in the EIR. Although the comments do not need to be responded to individually, the EIR should address the concerns expressed, as appropriate. This information is included in the EIR as follows: Archaeological Information Center: This comment actually refers to the accuracy of the initial study. Information regarding archaeological and cultural resources are included in section 4.1.3 of the Draft EIR. San Bernardino County Airport Land Use Commission: Information referenced in this letter is contained in sections 4.1.1 "Land Use" and 4.4.4 "Noise" of the Draft EIR. City of Loma Unda: Information concerning land use compatibility with respect to odors is included in section 4.1.1 "Land Use". Although it is true that the Initial Study checklist did indicate that there would be additional traffic without any impact on safety, the General Plan does address safety issues, particularly in policies 6.1.6 and 6.4.3. The following information will be added to the EIR in Section 4.1.22 ''Project Impacts, Circulation and Traffic": 'The increases in traffic volumes expected to result from implementation of the Draft Plan could result in increased vehicular and pedestrian safety hazards. The Draft Plan addresses this issue in policy 6.1.6 which indicates that safety will be assigned priority over other factors in the engineering design standards for major and minor arterial highways, and in policy 6.4.3 which responds to the needs of bicyclists by developing a plan for safe bicycle facilities not on arterial highways. Implementation programs 16.1, 16.2, 16.20, and 16.21 are intended to carry out these policies." Colton Joint Unified School District: This information is addressed in section 4.2.3.3 of the Draft EIR. San Bernardino City Unified School District: This information is included in section 4.2.3.3 of the Draft EIR. . . .. j; o o Forestry and Fire Warden Department: Information referenced in this letter is addressed in section 4.23.2 of the Draft EIR. Federal Emergency Management Agency: Information included in this letter is addressed in section 4.4.2 of the Draft EIR. California Regional Water Quality Control Board: Information referenced in this letter is addressed in the EIR in sections 4.221 Water supply; 4.2.22, Solid Waste; 4.2.2.3, Sewage Disposal; 4.4.1 Geologic/Seismicity; and 4.4.3, Hazardous Materials/Uses. California Department of Transportation: Information regarding traffic and circulation is provided in section 4.21 of the Draft EIR. City of Redlands: This information is included in section 4.1.1 of the Draft EIR. K18 The "City of San Bernardino General Plan Update, Land Use Alternatives Working Paper", March, 1988 does address only Alternatives A,B, and C. That paper was prepared for informational purposes during the formation of the Draft General Plan. The "no project" alternative was not of concern or interest during the preparation of that paper, but is included as an alternative in the EIR, as required by the California Environmental Quality Act. Alternative H was developed in response to input on the Draft General Plan, subsequent to the publication of the "...Alternatives Working Paper...... That paper is included as Appendix D to the EIR because it provided substantial reference material for Section 5.0 of the EIR. However, the analysis of alternatives presented in the EIR is the more accurate and up-to-date of the two sources. Although the .....Alternatives Working Paper..... did include a fISCal analysis, it is not a required topic of the EIR. CEQA states (Section 15131) that economic or 1"'\'" o .0 social information may be included in an EIR. When compiling the list of topics to be addressed in the Em, the City of San Bernardino did not include a fiscal analysis. I ~I c o ARDA M. HAENSZEL 138. GEHllYl&vE aTR.1ET SAN BERNARDINO, CAL.lfI'. 8a408 L : ~~ j ~ , r1"1 uL " . '. ,-" - I ~~-'" APR 2 4 1989 C'T\f ,~: .. . III. ..... .i Mr. Brad L. Kilger, Director of City of San Bernardino Planning 300 North D Street San Bernardino, CA 92418-0001 Dear Mr. Kilger, Herewith are my comments relative to the draft of the "City of San Bernardino Technical Background Report" of Feb- ruary 1988, Section 2.3, "Historical and Archaeological Resources", a part of the "Environmental Impact Report, City of San Bernardino," Sch. 8902308, of March 1989. The Envicom researchers properly consulted Mr. Lester Ross of the Archaeo- logical Information Center at the County Museum, who is the official recorder of such resources for the state. He directed them to me for details of city landmarks. Since 1952, and until relatively recent years, I had been Landmarks Chairman for the County Museum Association, and had registered county landmarks in the several state programs. This included most of the first San Bernardino city landmarks to be listed as County Points of Historical Interest. I also did a large part of the research for the recent Seccombe Park development in cooperation with Alexandra Luberski. Building on a tour list compiled by L. Burr Belden in the early 1960s, I compiled landmark inventories for the city of San Bernardino, and updated them as needed, all on a volunteer basis. April Planning Department 24, 1989 SAi"v ,)~r:li:~;.HD~i'~G. CA Envicom used my 1985 inventory as the basis for their report, and I had been expecting them to contact me for pos- sible changes and developments in the succeeding years. It would have saved them much time and effort. But I heard nothing from them. So, after reading the draft Report, and talking with Mr. Ross, I decided to offer what help I could in the way of corrections and additions for the preparation of the final draft. Sincerely yours, tadt1f{, f-.;~t'~/€ cc: Lester Ross o. 1'1" o o 1 '2- 3 I" ~ o 2 o "". -e ~ 55 :"ClIL t::.,- ?ara~ranh 2. The Politana settlement was probably primarily in Colton, just west of the city boundary which follows the Lytle Creek storm drain. Para~ranh 4. Overland emigrants were greeted by Isaac Williams at the Chino Rancho, not by Lugo at the San Bernar- dino ~ancho. Williams kept a register for them, which survives. ~ +- The road led around the foothills of the San Gabriel Mountains from the mouth of Cajon Pass to Cucamonga and Chino, not down into San Bernardino. Pa~e 2-56 Between Para~ranhs 3 and 4 there should be a mention of wagon freighting, which was a major industry in San Bernardino from the early l850s into the l880s. Even after the coming of the railroads, it provided the feeder transportation to and from resources often extremely distant from railroad lines. San Bernardino was the supply point fer vast desert and mountain areas. Wagon freighting involving San Bernardinans also fos- ~ tered secondary commercial activities in the city beside just driving the wagons. There were raisers and dealers in horses and mules; bankers and investors; raisers and dealers in hay and grain~ fuel for the draft animals; blacksmiths and farriers; harness makers; wagon builders; and wheelwrights. It was responsible for the building of important wagon roads, not only the long distance ones like the MOjave Road through Cajon, Bradshaw Road through San Gerger-io, and the road to Panamint, ,"u. o o 3 but also more local ones li~e the Brown, Daley, Van Duzen, and ~aterman Canyon roads into the mountains, the Mormons' Base Line ~oad via Cncamonga to Los Angeles markets, etc. r;, The commercial center for all this far-flung activity was to a large extent San Bernardino. Local freighting was in stiff competition (and sometimes cooperation) with Banning, Nadeau, and others that were perhaps more widely-known. Pa~e 2-66, e. Shandin ~ills I seriously question the words "vacation residences". To lilY 7 kno~ledge they were and are still permanent homes. Vacation homes were in the mountains. Pa~e 2-67, ~..25th Street I happen to ~e familiar with this 2-block area and the care with which it was designed and maintained. My family home was the first one built in that subdivision. It was developed by a man named Andersen, with a great respect for quality. B Pa.:::e 2-68 Para~ranh 1. I applaud with enthusiasm the frankness with which the writer condemns the city's .official attitude toward its history over the years. The City Department of Cultural Affairs, ~rowing out of the Bicentennial movement in the 1970s, ~ has indeed finally brought a voice to City Hall. Together with the City ~istorical and Pioneer SOCiety, it has teen effective in making the city officials aware of historical resources, and informing the city's residents about what has .' ....- o 4 o survived. This was all that was nossible ~ithout legal p~o- vision fer nreservation. But the movement actually started at least 20 years earlier when the young San Eernardino County Museum Association attempted to support history-minded residents as they fell back step by step frustrated in preservation efforts, particularly during downte~n redevelopment, and, ironically enough, in the period just before the city's Bicentennial celebration. During that time, unable to get help from the city government, the County Museum Association did at least work for recognition of landmarks, and registered many surviving ones. As Landmarks Chairman, I myself registered 15 of the first County Points of Historical Interest in the city, and others continued this work. Such identification of landmarks, however, was ignored by the city when it failed to provide reg~lations agai~st destruction, and incentives to nrivate nronerty owners for nreservation. . ~.. .. Pa:re 2-68 Paralrranh 2. There are a number of competent local historians, and I am generally recogn~zed as one of them. However, I have "probably been at it longer than most (some 30 years) and conse- quently have accumulated very extensive information and files. This is we1~ known, so I'm sure Envicom researchers were so informed. Also, I serve every ~ednesday morning in the Califor- nia Room at ?e1dheym Library, and am often contacted by people working on EIRs. Yet I did not hear from Envicom, who sought "information from local historians". /0 \ I ." ,:)(. o o 5 Pa~e 2-68. (bottom of na~e) Tte material on this page is continued, I see, on page 2-80, and is needlessly interrupted by Fig. II, and Tables 11 & 12. Surely this order should be corrected. Pa~e 2-70. Table 11. Item A-I The first quarters built to serve as a post office were con- structed in 1587 at the' northeast corner of Court and E Sts. as part of the Drew-Andreson Block. In 1904 the post office had been ~oved to quarters built for it in the Swing Block at the northwest corner of 4th and D. The post office later ex- panded into the whole building, which was remodeled for it. This building burned about 1928. Pa~e 2-70. 3 - 1. Not "one of" but ih! first train entered San Bernardino in 1883. \ t "1833" is obviously a typo. /2-- 13 Pa~e 2-72. B - 4 This was an1"arently taken frc'D the registration application, which is erroneous. The Sturges Academy, an early private secondary school established by David Sturges in 1883, was located on the north side of 4th st., east of D and immediately I~ west of the fire station. After the first San Bernardino high schoel, a ~ublic school, was built at the southwest corner of 8th and ~, David Sturges became a much beloved instructor there. Tte high school building was severely damaged by an earthquake in 192;, and replaced in 1924 by an L-shaped stucco building that was dedicated to the memory of Sturges. The au- itorium was built shortly afterward. ." I~"I o 6 o Pa~e 2-72. E - 8 Pioneer Ce~etery This c~etery as a historical land~ark is pri~arily character- ized oy burials of historical figures, not by ~eople with Spanish surna~es. Many of the latter are now found a~ong more recent burials in the later additions to the cemetery, for it is still open for use. Spanish surnames are ~ore commonly associated with Campo Santo Memorial Park (p.2-68), a former Catholic cemetery, and with the Catholic section of 1& Mt. View Cemetery, at the northeast corner of Waterman and Highland hves., which was established in 1907. Most of the burials from Cam?o Santo were moved there at that time. Inci- dentally, Xt. View Cemetery should also ~ualify as a city historical landmark. Pa~e 2-75. Table 12. Ite~ 3. Ea~les Lod~e Buildin~ The address was copied wrong; it should be 467 - 4th St. A word of explanation is in order. The modern Eaales building ~ . was added on a~d around, and attached to, the former Brunn residence. The old house was remodeled and incorporated into this hybrid structure in such a way that no sign of it is now visible except a small patch of roof that can be found with difficulty only when viewed from a particular ,oint. It is not suitable for registration in its present state, but should be considered for restoration if the eagles additions should I~ ever be removed. . .~o '. o 7 o PaLe 2-77. Item 10. The title s:,ould have read "f\i.alto Ave. and E St. Station on the Santa Fe Kite ;{oute". It was originally built about 1890 on the west side of E, on the north side of the tracks, which ran par?llel to and a little south of Rialto Ave. The past tense is deliberate. This building is another prime exam?le, and one of t~e mest recent, of the attitude and action (or lack 18 of action) by city officials. In this instance, Envicom re- searchers apparently just co?ied my 1985 landmarks inventory list. They did not notice, as I didn't until recently, that the little station had been removed. The city lost its lease Deparhent, I found that the building had been "given to some- I On inquiring at the city Park I I on Viaduct Park, and the locomotive was ~oved away, and the station too, several years ago. one in Muscoy". The landmark inventory had not 1:>een consulted;: i the Parks De;t. ~robably didn't know one existed. But through ignorance and neglect, the city has lost another one of its older and uni~ue structures, for lack of an agency to monitor such things. The little station should simply have been moved to another park. Pa~e 2-77. Item 13. Amasa Lyman-Rich F~~ This titl~ is nonsense. The house has nothing to do with /1 Mormon leaders Amasa L~~an or Charles Rich, beyond the fact that the firm of Lyman, Rich and Co. once owned all the city land as part of their purchase of the San Bernardino Rancho. The house was obviously not built in the 1850s. The Hormons . ..... C) o 8 Lyman and Rich were of course two different peo~le, and they left San Bernardino in the 1850s. There was a Lyman ~ich, well known in San 5ernardino, born in 1896 as the grandson of Jewish businessman Jacob Rich, who came to San Bernardino in 1865. lq But this Jewish family lived first at the northwest corner of 4th and ~t. View, and later moved to the southeast corner of 6 h an" ~,t \1,_' el.... t .~. ~ . Neither is the property in question. This house is bea~tifully restored, and should be registered on the basis of architecture. Pa~e 2-77. Item 15. Colliver ~ouse. D Street runs north and scuth. The address is 950 Korth D St. \ ~O ?a~e 2-79. Item 19. Grow House. This is probably not the correct name to give it, though it is presently occupied by Mrs. Alexandra Grow Jenks, member of a pioneer family, and her husband. According to the Directory, 2\ the house was occu?ied in 1913-14 by another pioneer, A. M. Ham, who may have been the builder. Mrs. Jenks should have more information. ?a~e 2-79. Item 23. I am not familiar with the structures here noted, but G St. runs north and south. Either the nu~ber or the street should be ccrrected. I have corrected the above addresses where the 22. structures are familiar to me, but there may be other address errors in Tables 11 and 12 that should be checked before the draft is accepted. ." .- - o o 9 ?a~e 2-79. Item 27. This item is the W. F. Miles ~ouse, at 439 w. 8th. It was built in the l6aOs. It is currently being considered for ~oving onto D St. nearcy, and restoring, as an exa~ple of Victorian architecture. If this can't be done, it will be destroyed. Pue 2-79. Ite::! ;0. B Street is now Mt. View. This building, presently occupied as an a:;Jart:nent house, was the "San Bernardino Eospital", a private hos;ital run by Mrs. E. H. Grey, and was well known in 1907. In 1916-17 it was serving as the County detention HOllie. I should like to suggest some additions to the list of potentially significant historical structures. I have research material on a nu~ber, though not all, of the items in Table 12, and these ~ronosed additions. Pa~e 2-79. Additions to Table 12. Item 32. Larsen Dye ~orks At southwest corner of Oak and Stoddard, built about 1927. Building has an unusual clerestory roof. Has been restored and remodeled inside into an office building. Item 33. Ice Plant-Cold Stora~e A ce~ent building on the north side of 3rd, just west of E. . i 25 24 IJ.~ \~ ." 12' o 10 o Pa~e 2-79. Ite~ 'u. ;aitt Eouse At 850 North F st. 3uilt before 159c. Present owner and ~1 resident is Mrs. Janet ~iles, an old-timer, ~~o doubtless knows the history of the house. Item 35. R~luhs Eouse. At 1298 W. Mill St. Possibly built 1883 of brick. John C. Ralphs Sr. was one of San Bernardino's first two brick makers. He came to San Bernardino in 1834 and farmed. John C. Ralphs Jr., also a farmer, was city marshall in 1893 and sheriff in 1903. As sheriff, he was among those who pursued the Indian renegade ~illie Boy, and on another occasion also Death Valley Scotty after the Wingate Pass incident. Or the house may have been built by George E. Ral:-hs, son of John C. Jr. The ,resent street number is first recorded in the 1928 ~irectory as his 28 - residence, though the whole area belonged to his grandfather. \ Item 3~. Peck ~ouse At 358 W. 8th St, corner Mayfield. Built 1809 by E. C. Peck, ~q paint and wallpa,er dealer. Item 37. Mt. Vernon Ave. Viaduct The first viaduct was constructed by the Santa Fe in 1908. Plans for its replacement by the present structure were ap~roved by the city in November 1932. 30 Item 38. Patton (formerly Asylum) Station on the Santa Fe Kite Route. North side of Eishland Ave. at the crossing of the railroad ~I berm. 1'2.'1 o 11 o Pa~e 2-79. Item ~q. Parker House .~ 7-- N' h" Ji.", .=:.0.. .."rrow. eaa Jo.ve. 3uilt before 1906 when it ~as occu- pied by the fnily of Wilbltr 11. ?arker, proprietor of the Parker Iron ~orks en 3rd St., later the Parker Ice Y.achine Co. ;-',-. -<. ....).L- After ~is death, it continued as the home of his daughter, Mrs. Nora Parker Coy, a teacher and director of cultural pro- grams at San Bernardino Valley College for many years. Pa~e 2-80. Para~ra~h 6. In 1975, as part of the city's Bicentennial preparations, at the request of Mr. Gary VanCsdel, I submitted an annotated inventery of city historical sites, which was presumably filed in his office at the City Hall, and afterward forgotten. At that time, I also su[gested and wrote a tour booklet of historic sites in the downtown area, and with the help of Mrs. Thelma Press, it was published by the city Eicentennial Commission and i:lustrated with photos and a map. It went through several ";1,':<: -'- reprintings and was used by t~e econonic development depart~ent in succeeding years. This.bock is listed in ~nvicom's bibliography, In 1965, at the re~uest of Mr. Salvatcre Catalano, I pre- pared a revised and much expanded update of the inventory, which included dates, significance, and other pertinent data for eech itec. A ma, was not included because precise street addresses were given for the sites. It was used by ~~vicom as the basis for their report. These inventories, involving years of study and research on my part, were done on a voluntary basis as a service to the city. Respectfully sub~itted, Arda !-1. naenszel April 1969 ... ., f ';l I ll: ... --. . w. T !: J: o ~ rs; I ~ I.... . l"rnJ. ~ " TiO' f" r-I~ [.... ~ I/) In V) 01 j " :..' ' U~ ',J " " ~" .:\. c( · . . lD' " losE D~ z ~ .-ll- ~...l1;o .~ L-J! l ~i 'om V NTH f; ,.', : I I I r . i NTH , ~ . U ;[l(] lliJ [32~D~D D EJ rUDoi ..088 om D D ~\n n- fn- ~ c,\ol D f10 on 01 ': ~ ~ 00'" ~ BElt.I1TH ~\'L~~ I ~ i "" ~ LI ~ ,:;'l " '. ~r;, 1 I TO" ~~Met: ~ :wi ~ t' I, I ~I ~..t . ~ ;. ~ ~' c L...~ t....J L..-..-l1! "L-..l Iff - . '" []j - 'HI U U 1":':"1 D[~10'D- r::~~:-_..~ ':: ,~ ~;::~,'! ~ ,,J ( i c~~~~ ~~~, ~ I D ~fl ! I '" J I II I .fllp I L ,~~~. '" ,j;('Ir:TH11 'iST. ![1]' U' ',:nDO:t'f' I-l. ~~1 I:. "<...". U: T(r-lI: "'i.~:; , :u I ~"""1~'-= ;Ir----. ; . I../.' t\"t I' 01 I ~ ,;~' f. _ : 1 i . , ItPlll: f "!I I l'- ?S '" IJ~ sr.. "iJ' 1 1"0\1.. "C ~ S":. ,.~' 'Jr=.~O$ :,J q is. I! ;z,.rl ~,<::O .!:. ~'~'1' EJI I. ~.r u..... c:: = I I~i t:~I..~f':I' L;>l~1 tPOTl '. . L--J I ~.':r I.: ~L-.J ~ ' _ . 4"-, ....-~\~- -"'C.o~~Ri-,~-,_u--e-'=i - ~r'r.i.::uD""~"r~~.w~""' "'}:,::; ~ I ...,.... !..~'II 1'.......,. ""- -z1. A'" :~- i i., D:D ~~:U': . I r-PAR-K-T - :~ I ~ I"" I. . -:t; \ r ..I sr ~,i-rlniJ'-~Oi-Bt-~Jt-'. I-'C~ "I,/). l~ I I::; <." fI).. en V') e_ .......jl/) . :H! :U~' \ ~ r-'j 5 ~- · :~t~.~'_.~_.~- o~~-'-'-'~'-'-'-'-'I~ ;; ! ij - !i- I~L ___u. ~ . -\1-\:' C\iY- ii 'c' I I ..:--:.11 ~ ,Z; ic;: r. Ii .,.. t. I- N I" i 11-1 IN ST :]1 ...... ~ .':~r~ - . ~,Sch.., fTH ...... .. 1/ :~ .. , &~:. - -1/ .. '\I.\<' ~ } I TTH / .- I /~ ~ NST~NI' S,\ATE ENGINEER 0 H..i.HNAIIOI.N. U.N. UHTH..~ HIGHLAND AVe ICAIIF In. a.1I "". 17'30" " . -- "-:-'l-<> -- -. I C' . .. , ;.01 ['I! .,'I'r '~'H iiii) (ij) m: .~~.~ I1! l -:J ,,' Ililcy - .-] T~ - ~ "'M "Ali~ - LINE /~ Sche,! l~ WI -- 'IT.rs1 11:4' 'L'.~ ,., ,~ I n'HJ IV ~ Jri.1 HER I\: A 1: ITI N ( ~ i H_- 7:;_ n V ~ ~ L H I IT ,;;: ~) ~ ~ II. o ~l,-i ~AN Uf::it:IA;<I.,: :.... / " T .~ I,,,u.~qa ~'T .- .0 ,J.hHi, h ~ / 'T &I~_~_ . [T~ IIOIl ._ r Sclj ..' T - I~ I 8M J.H~f., .., 1046 ! l Co., ..... IT I .'- , -to1' Dl P'Klr .' ..~II'''/ ~,... !~~., .u. I "IOn , III M , : II ~ C.me ;.\ .r-~:".:, ...-.... ...: '\ ':' . ',. 1104/. '-::I(::n -c- _ _ ,. ,~:~~'!r.~+~ ~, 1M 9S:iij r !!ii il I Ji'~" ~ " 1 ~ ,:" U~ I~. ~ . -- ~..- jl! I waterman{'''~, ! ~ Gardens. i : :JI ,... ,.-I \ 'I o. ~ r ~ '.,':":- r~~...~ ......... .." /. .. I' .. . ,',/ , ^- I' t -j! / .1 ,0_____') .t.' , :::. t~~L' "H l . .. '"'__..... __ ...-...t.~.'_ '"." .' . 10$' ' : ~ Munlere)'~I, I '", ?&. . ~ "CoUilge , , , I P"k ) Garcie'ns ~ 8M Iono:" . CHy I : 8M 10.3 : .. ..~ ' &T HI.; c In .ns ST ~ r- 1100 , I _ T ,...(.. I 5TH ~ "0 Il'TT!TSHOP II-I ._~M -. r I. ~PII:}:' .- . -t::~1 :::1- -.'1 I"""': ,/.. --. ..". :;:::, (.--1 ~.~. :.. .-...... . - .. ~ lard; g ,~ ilO ~111 P::..' il;1: . ...;h "hi-' 8M '.049.' >I, . ~-~ ~g-"'A - I , .tNI, (\ ,::1 ~M_1079 , i . ~- ;;' IlMl 1086 r ' " I I ./ I. , .Jl' '..' Ii RIA' ~ \ 'AI I (I .tv", p:c'_' c'I"'~ ~'."."""",::-.:~' CAR, :~'... . ~ -::.:~ .~r~l'; I" _ I ,,-. ,'..oJ. . Ii, ..~ : : , . I H ---: )1..' '"" '.:;0., '. '::: .~ " ~~, :. ':'"- ~I;j.;;.isll :' c"rtl.cr~l= : I- '~~.:l~' rN . :~l""'" t . ,'/1078:::: .=. _ Hchool . l\ i . . .~, ~.' . . (' -" _. -. ...!'~,~ do .: {:3ir~l3~1 =::: =::'k~~~t ~~II~;. lU;S', "A~1: N....> r ~\<> "'I~"',,!lll!ldD_.....!: .. ~ Ipt -, Itichardso. n .>\\. '.':'- ,L. ~ ~ . !oI~tIc.,Il',I./ I' J. H,gh ~ . \" ,BUrl ";'k ".'.'_. ii--;. ~hOUI. '.",,; , ~~hool .. MIU. . -:,'\\ ~ _. , -;-j~ 001. ...".: aT . ,o.JI . .~.:___.~_~ ... ~ r.,;; ~..._...__ ;;".'_ -~~,----..._ I'''' '0~7 -., ~'~ m' '~l(" . .. . " .,"" ......' "'w':X'-r'~ : LL'- '\ ""'/'.' ciJ.: ;...:~ I r;.. '--'r~'~:~l\~:'::':W:: . ~II~:::I~~ (. \: .... IO"~.: ....:'V/J ...:.;:r........,:.........:. ..... !- - .' II) '. 0 ANGt - .::. t . .!,..th~.;;:.r:.~~:.~. , j'" ---.. l'" \~i-o. . €IV. ". ....: ......~,. ..... .... f' ,.,;.: :-nSJ'1i,lI, n ~ .0 I 7.1;:.. ")~, r;,i..,,~JI : I / .. \;;.~" . '. i.H='l .' . . II ~ .I~a:- _. .t" ~. . ~~ ~~ ,,~~ :lffu..g'./ 1/ J . u). :~.:~.;:;a.J. .:~. ::s.-~ Ur ta. J~ W. 'C'.::l I ,Cw'HT AL .IOM ....,... I .... ... :'~.JI l . lr "" I ts.;i'~I' :. -. 'I'I'~-~;-~''>- . '. .' ":' .:,:. ':. :,-. -' . -~":':. . - ....., \" ... . MiII"'Si:h .~FiJ'f.:"\ .>,"(1) :.I:II:....~./':... ::.. ...1:.... .'..... ':h;;Q'll', . I ___ : .' '-! r.;,...., .... . . ~ . { . i I .4i~' '. }' ,$(.... . ..;. .j( ~l.S-.., . R",yJ~l'V . A /:'R :;'.;'D ,:,i.~..~.rl.-' ~"".."" :....,.....;.(:! ,,:. ".:.. I, ,I ~~- '/}j' '. ;~;n:'l'/ ....: . / .~:..:..:I~~,. ".; -Ace ~,~f! ....:......~{._~ .J'''''.::..'}::' 'ru " .: oil: ~o:I'IOI. c .;~.. C, , ,.10...- ., :,' : , ...;. . ....:: . t;.: I ofof'.-""" ..* . "...., .. '"" " ....;p..; : : .' ,_' , .' ..~. I~O~ . .,.W.,.. . ~ ..,/ ',' ....",.:~.~ ....... . :: .... .. y~ ." .>:~....:~Dn ..~ :",:! ~.. ~?9 ~~;!....jG9.. l : i : ~ . 1.....,.1..... Y~f:I,/ ,....~. :.....i.. D~s:~1 ! :::.......:~~..l 1...~1 ':oo~ - N." ' . If ~'d'... " ,\.:: "'~ :n411''\ ' rrn . abington TOw."o .... . " : . \. )C."O'Ir . Sl!houl ( , ;. .... ' ....." 1 Plun.. ~ I. : . t'o ...7..t It.. '. ~ P.ull '.1 "___,, ...~}. \ : . ~ : .. " - . .' . '. I , . .. J~ -- . . AVC. ~~~l7~ ~~~~ ...:...J ~......~......~.:.:9. ..............,..~~z:..&:.-.:..-l-~- .... .. ~-.-'~'"'' f. . .....;J ,V ~.".., \~ '. ... 10" "'~4~.. _~ ! "-~ ~ -.,.--' . I vi 1/ .....TT..............,... ....'~. : \Ii: . ._- ~ .~~I.J'" Ai)!iGalt. -' -, \ I \ ~i '" ,'; j]:I~';';" '~ " )' ~ J ,'\, ,""- " ,~~~ \.,...- ~ a \. ~j / ' ,'-, ----;,\,),\~.:f!)\ ~1 ,) ~I{I ,,~,,:_~',11' 1'/' ,J~ '<) ,,:' 19J. ~'Ll~ '~R'-~~ ~I~t. ;\:/II\i"'>'I"I!\h~~~~J': ;,,,,', .o\J ,,"~:i;"";~ '. I ::, '~NV~ ,. .-",,"A/ I )1~ll) 1('"' ~\J.~~/;;ijffi&~~'~'~'#'li-~~ : : . '. ,~)!;\ ;:;:~(I'!' " ,,;r~~~~~0:t\?"I~~ ,) ~~\ ' ~"~~~_'''~~~~~~;~ ~P:%;~'4/ift3ir:;//E\~ .L .. _~t.~..E_ ~"'" .:-' 'j~'*'~P'~(7"!~~t"jliT\.\ I>. I . \ \+:~'\~~~~r;;~\~f'jfJIIJ,l~~.J \'S'i!r~..~;:J.'~ ' , ",: ,'1,/,; 1':"'''', -", ~~, ~,.."'''I (f,'" ,\ .")} ,!l~''/A.I/(~...... --):.r; -' ~~~.... '",..I(~Y; \...; ,"" I,: If" :,~ _ :', , -,,/~!, ~,i' ,':/1",""-"-'.1 , ,') \'. -\'J91~~ ,}~~zi~~;~J7l/',il .I ,,11 'U!rr~~ :r~';:~ ~o ~ ~ :' 1'/' ClCJCO '\_':'~'I.......I,I/I/'\' I..,,\,,~ 4' I({!' \.~~ i.~j~~b':-<:~) '11',' ......",-. _~ "II \....~.../ ~ :/ { '/- r ,!':,/~i(?~/;'l'.' '1'~)(~l~~~Jlt' i\~\~'\i~)"i :!~rr~'''\~, :',;;i:,.,j ~ 7 : ,,,.1 '," }"..t . ,/' (I l.i;:,~~:; I( ,.." I I' .-'f;;j(t ~~/\ ~\ "'~m~~JiJJ"", :\. ,L ~, .~.. ~~.' "",~ ~ v'1 \':\ '()(,;I.: I" ,,,, ,,~,,:--, ~\)\II::1r~:" ~. -:'J~,5:!t)\ 'hi)>' if ,- I ~~., , : ~ ~~". :.J~,:l'i:,:''''!_'_ - ,<'-v"~~-VJ~)~ : ,II: zOOO.. ;!f<'~~IA~e.dri,:, :',u~ '~~~'01~:I~~~~({;fi~:'~t~'~; ~lf~1 d~' ~?~~ /I\.:;t!;:f, .-.Ii1):~ ;"~~~~:1{~' ~ . l...............C:lil,: "j: }ii,~;~~,'ii~I't't;llQ),,r_~r,:'~~o:i~ {/, ,'" ~~.v:.'f, ",' ~.~..~;f..;,L-<~4 \., .... t '.'''':-:::'''1 I" ( . '\. . ~rr. l,"~ III''' '" ...io9'::>/ '.~ " ""''l. I~U-'bt... 't. '~...._< '-:t.=~~.... S..:\;>-"~\LI~ \ ~ f~rh ~ J ..~!/,'i I :,;.;;:,.. :-"1 . .....;...~......~!~) ','I;iocP ~~If~1 ~- ..~,r' -:-.:.~:\.~ w. r I~' ~..~ ~'(f:iJ~I:\\;-:>,?~' ".1 .'.,.-:-~... I": '.,' :~~ltl\:I(;1'",I.,~~'~\'\~ ~~ V~ 'i.' g:~!:~~;;)~')i.I(~~r 1- ....~ ~r ;t.-. 7\/:~~"~\r~ ~~!-m~~ ~s~- ~~ " ~ /::~&;~i~~t~~t\\~~;~!i::;' :llJ 'I \ p... ~ 'I"...... \ l:........d...~4.J!~. n I e f'tm \ I" -.~ _~,~ ~.:~, ' ~ '," . . .,11 ........ ' .-) l~u:: ~ -' ~-""rrf;\f&,;, ... r-:"':T i ..' ..." .-~-- .-~----~.,.-=. rri:"" ~)\~~l'-'l. ,~. ., Wi., \\~,~..~' ~(~1.S='<" i \ : \ ,.~~~, ............ '.'t,...,~ ~ ~ ,JI ...t~ I. . ~ (~'~~~~.E!""J.I'\~~=--~l~ ~:-";;}~ , . Rn. / ;.(.......".-:') ~"'~ ' 'iT' "'I'....~~ C '....1.1 . GE--;; 'k.,.:q ~~~I'it \. ':, e"""", I J.W4j'... 15 I. ' '., v"" :>~., ~,,~ !'i:<~'\\\, . ....... "', ~.../~ : =: -:.; . t'. ~ ~r':~! <\'.r' \.~ ~:d~ ~;. r;:;: ::1'~ ~~ @;f:~', l4f>1 /! .... ~.. ~.. ~ . ::r( )" ~~':::-"'))~"~~' ~ei!!(f3J. ::;. . . ,.d' ! F- I.'~ :~ri}",":-J ::;,~~..) ..7: ~IS-~~"S;<;:;} ~~~ f( !f/,I"j . :: i ! .: :\\ " ~ /,--_.:-....:.~~Jtl- \ .:;Ir:- ~I^i ~V~~}~"I '- ~.~L>.,i '. ,I II I"" '. ---~.","': :W<: ,~\\~ ~ Jf.-for , :: i - n : GoI'"ISlr.l'-__ 'i ~ (.t{~'~~)~IJ.~ ( . t14';'l\~ . -.. . I __ . ,( -..,..... " \\~ ;:~~~, I _ ...~.J;~\~ I.' .~. .., .8T .~" ~ "" 1-~ iZ ~'~' ,''i!]~)", . ~ : .~~ ~.. 1-"~V!'--1 ~I\ . IQ~\",,~::;,~~" . ... . 't., ........". "'" '". I"~ ' J.I..1 ~~t::.-~ I " : ..., .: :J +, , "'" "" "'''''' i',. . I. . 7,,". ~ 7.' ..fll'r: . .. : i: ~..;" ......,. .....".. ...... ..... :: ; : .~;...:",IIl~~~-...A.,.....:.:... '-' · . 1'\ ''''''''. ~"'''''''''''~'J}A . ,..,('t:(,:..,\., I ~'('-- .. I . '. ~.. .'. ,,~;-"..~ '""'\ ....', I M .- - . . ., -' . '. ' "iI'" .,' d'r'O lJ -. '( , eI . ""'~ '''~]{~... '~'. =" ; ..... ""'''''""" " ,I,. '//'1 '.. Ol'~'! '... ,,0 I .. ... .611.. ~ ........."",,,,...... : 't'.' ... - R.;;: 1 .. '. (~\:IeI., ...... :to :;''f; . rt:r-:---'- ."'....., 1 . .... ... II . -t..:. I.!J :~ \.... '...........".....:,,: I: . _; - ... ---::.....~ : '.1:.. il: ..:. '. ~~ ........ I: i!i : ..:n ~l . \::- .. '-t ~ ;. .:;.. .'d: ~:: 4 ~ : ......,,,. 'J52~ "T ;,l.i ~: "'Sf' ~ .~ "l, __.. 1::.";,1!. 'I~' .._~:' '. ,,'. : .J'. ii j l'l ,W''''l (;'I'~I."" ~~,: ',~ '; ;: ~... ...-.~ d---1 i ' _ _, ..J : " ; l> ~ ~,' _ '" .. ~ oM ..1 i! LJ ~o' ,~)~ ~~.. . -7~'~i .J;; 'J290 t - I p~ \II 10" \ p' ... I \' :;1./ ~Whead'.\ I::';I~. . .,. : , .! ii : __. - ___ I~. -... ,..-...'.J.J5iA' '. !.':St.if"~ School~l -1[~l!StlleOIVI'lon par1"aide~~. II ""1 \'\}C==-=.j"!!! ......, \ , ....., ,--""!,,I, __ ~.!;.'" ...~ ~., lofFor"ltY Se :Ir,. ..;:t 1 .. . n .a;~ I ". ,l\.. Ii' .. -' /--'~--'" ~h \l-~ .' i (~~I.tA~~-!: R c: ~~ .. I ' -- ~,- J'.. > \ i ) "-" ':-'V .:.:,.::;~ .;: rr- !I',__ ,. J;;:~ ..... ,~. " L;, . i" ."<: \' ;.1 J .,...._ __~_____ 1._-",-...-- ~ ",.- .. I~ . .. .... .""'11.' I /. 1'~-~=-/::; , ',... "'..., \.-- ...., .:.::1. w.''':": ~::=01~':~'+GJ"""""" . ,~' I - .','.)~ , -J~ 'I' ~ 1- 4....1"'." !. :. i ~ d ~ ~~=J i.. ~ll nl.l/IZ'O--.~ ~ I ," '., u .' .. ~ ~ .n 1 I . t . n, ' dJ)"~' .F:''' ~ ! . . .- i ~ ~ ~ ; !~~ ~._. ..~,.. --~ ~.." . I II r' .,,, . . 11.1 c 5 : I h c:tI . . .-. II .t.,' . \ ~ ~3" ~ H: u!! I: ~.." 1/11 r-/ !);. '''~I;'' ,1 Mil;i ~ ' '. i !i'",""" . i .' I ~~~l.' !r' I Sc 001- ~ .. ..~.. 1 Ll .: . l,:,~~ .. ..,.:"." .. LE aT_ .. -:. ", ",.,&.... . . . . . : ,'i{' ..J. ' H I: ~::I .ouv~ Ir ..~~ri(:'II:;"ir.'" .. -.. U:\ .....If. ~ij; . 31.. I ,. ; ,.s.~.^!r I I :::.,; i 'o..... .. '. , ... :/1"'1.. i1 L-/ .. .. "1:"" 11 .,... LJII/......" ",,,,- -------~,.-: ----;/1. ..- Ih:J --,: . ; 8M 12.48 :1' J . ,I,. " ~: ;' I . ' '. . " ,'" ,_: 'r_i'~l''''lJ Ii' '1 ft.... 1,1 I . i: Deli~Rosa.~II~: 11; \ =... :.r I .. . J....1i ...! i.- . '.e .D';'~__ .r.l~~ .....--- -.. . I!.'" J .' ~T .SH L 8 V L ~ '- .. .. i. A !;..!.S N ;j=- T ,~ L' \V "J \' UI 1:,'" -I / ,,-, .. \',. fi , - 'I' ~ I ~ .re' ..oE __n' h . It ,,_ -., 'm; "-~!, _.__~A,_ ~;, 1 nO' 'i1 "'; .~~!:t I ,,}.....=I """Rool.1 n .n' RORANT o o Response to Comments from: Arda M. Haensze1 (dated April 24. 1989) L1- L33 The comments presented address the "Technical Background Report" (TBR) pub- lished March, 1988. Although that document is incorporated by reference into the EIR, no changes can be made to the text of the TBR at this time. ..,~ -. o C I T Y 0 F SAN B ERN A R D INTEROFFICE MEMORANDUM 8904-704 o I N 0 TO: Brad Kilger - Planning director FROM: Gene R. Klatt, Assistant City Engineer SUBJECT: Comments on Draft EIR DATE: April 27, 1989 COPIES: Grubbs, File 9.01 ------------------------------------------------------------- Per your request, we have reviewed portions in particular Section 4.2 beginning on page are comments and questions on the draft: pg. 4-71 Freeway should also say controlled access in addition to limited of the draft EIR, 4-71. Following Expressway does allow access to propert~ in commercial or business districts and in some cases d1rectly to private property. Arterial should refer to traffic generator sites pg. 4-72 Seventh line in first paragraph refers to eastern part of the city, where is this, why not use street or RT 330 as a reference? Why is Rt. 330 not mentioned at all? Bottom of page in discussion of Rt 30, second line, where on Highland Ave.? pg 4-74 Figure 7 presents portions of the freeway system that are under construction but not yet completed as existing pg 4-75 Rim of the World Drive does drop to two lanes near the top but his is not mentioned. Kendall Drive classification would not view it as freeway. word freeway has typo. pg 4-78 first line says Rt. 30 but I think they mean Rt. 330 as it is two lanes east of 330 or Boulder is not set by city and most In second line from bottom pg 4-80 first paragraph seventh line down need paragraph beginning with The volumes. Eighth line second word area is are. beginning in the tenth line after words peak hour - suggest deleting "in the downtown area" from the paragraph. pg 4-81 Second paragraph line 6 after ... level of Service E. it should read Level of Service F. In rest of paragraph it was my understanding that the city was attempting to get level of service C not D. pg 4-83 Table 11 all volumes are incorrect. Need to follow guidelines set in the TBR - M r \2- \3 4 \6 \0 1- B ~ 10 \ 1\ \ l~ . -~ INTEROFFICE MEMO~DUM: Comments on Draft EIR April 27, 1989 Page 2 o 8904-704 pg 4-84 to 4-91 all values are incorrect because they are based on incorrect values in Table 11. Needs full update pg 4-92 Figure 8 Needs to be more clearly labeled as congested areas as of a specific date and traffic volume. pg 4-93 Last paragraph second line word 'lane should be land. In total discussion, it needs to be rewritten to address the fact that the CBD never had enough parking, was redeveloped and a parking district created but even that did not sup~ly sufficient parking for code requirements and that park1ng district was set up for customers, not employees and that current surveys list usage of parking as 83% employees. Also need to cover that employees are also customers. pg. 4-95 No discussion of air transportation pg 4-97 last paragraph first line ater work forcast we should insert "by the model and in second line after words project buildout we should insert "at maximum intensity". pg. 4-103 Paragraph in middle of page line two word form should be from. The last sentence should be revised to read "The following tokw polices have significient impact on development inb the city that may result in only a no build option: pg 4-104 Figure 9 appears to be mislabeled is it existing or proposed and is it complete? pg 4-110 Last paragraph on ~age line 4, the 100 trips comes from, 1t does not paper and is not used by the city. we have no idea where match traffic policy \ \3> \ ( 14 (, I r0 ) 1'1 /6 11 12D I I ~g 4-112 second to last line the work desirable should be (:L\ 1nserted between above and roadway. p~ 4-200 figure 20, in text for this we need to say that the C1ty needs to complete more detailed studies of the area and ref1ne the areas subject to liquefaction. Pi 4-202 first paragraph in section 4.4.1.4 third and fourth 1 nes, need to define sensitive, high occipancy facilities and hazardous buildings pg 4-217 Noise, need to cover what and when higher noise levels are permitted. It may be impossible to have noise at 65 db during construction or rehabilitation of streets or during installation of storm drains or sewers. Discussion should cover limited exposure to higher levels. Whole discussion centers on after development and traffic or background noise only. As you are aware, Traffic, Design and Department Head levels have also reviewed the draft and may have additional comments on its contents. As time allows, we will try to review other sections you deem appropriate and comment if necessary. "'h "'-L 1"3 \L 24 - I'\q o . INTEROFFICE MEMORANDUM: 8904-704 Comments on Draft EIR April 27, 1989 Page 3 o Should you have any questions, please contact me. Cordially, d:C/~ Gene R. Klatt UU\ . .JIj\ o 0 Response to Comments from: City of San Bernardino. Assistant City Engineer (dated April 27, 1989) Ml The definition of "freeway" will be modified in the EIR to read, ''Mobility with no land access and controlled and limited access to arterial streets". M2 The definition of "expressway" will be modified in the EIR to read, ''Mobility with more frequent access to arterial streets than a freeway, with some access to property in commercial or business districts, and occasional direct access to private property". M3 The definition of "arterial" will be modified in the EIR to read, "Mobility with access to collectors, some local streets, and major traffic generator sites". M4 SR 330 is not mentioned in this section of the text because this section addresses regional and inter-regional access and freeways. SR 330 is an existing roadway (Creek Road) that is discussed on p. 4-77 of the Draft EIR. In conjunction with the Route 30 project, Caltrans does plan to upgrade SR 330 to "freeway" classification. M5 The last sentence on p.4-72 of the EIR will be amended to read as follows: "It carries an ADT of approximately 45,000 on Route 30 west of Sterling Avenue." M6 As indicated in the Figure title, Figure 7 shows the existing roadway classification, per the City's previous General Plan. It is true that the previous Plan indicated as "existing" portions of the freeway system that are under construction, but not yet completed. However, that document stands as it is, and it is not within the scope of the EIR to make any changes to it. To clarify this point, the text of the EIR immediately following the heading "Freeways" will be amended to read: 'The planning area is served by the following freeways and highways as shown on Figure 7: (Note that Figure 7 shows the previous Plan's circulation classification ILU 4:J o o and that some portions of the freeway system currently under construction are indicated as "existing" on that Plan.)" M7 The text describing Rim of the World Drive (SR 18) will be amended in the EIR to read, "... is a four-lane (dropping down to two-lane at higher elevations) circuitous highway that extends..." M8 The first sentence of the description of Kendall Drive (State Route 206) in the EIR will be changed to read as follows: "Kendall Drive (State Route 206) is classified as a major arterial with posted speed limits of between 45 and 50 miles per hour over some of its length". The typo referred to in the comment will be corrected. M9 The phrase referenced in the comment will be changed in the EIR to read "...Route 330 and City Creek Road". MlO The three editorial changes discussed in this comment will be made to the text of the EIR. Mll The text as it currently reads is correct with respect to Level of Service E. However, the three references in that paragraph to Level of Service D will be changed to Level of Service C. Corresponding to that change, the 5th line of the subject paragraph will be changed to read "...Service C) daily volume of up to 27,600 vehicles per day". Sentence beginning line 6 of that will read: Level "E" is considered to be..." M12 Table 11 in the EIR will be replaced with the new Table 11 shown on the following page. M13 Table 12 in the text will be replaced with the updated Table 12 included here on the following pages. hl~ . d 0 0 rG:;~ 000 000 00 000 000 00 .... 000 000 00 .. "I "'I c 000 00'" ON 0 ....0.... "''''..... "'..... ..... ..... ..... 01 OJ ... C 0 .. '0 1Il 000 000 00 OJ 0 000 000 00 en o-lQI coo CO "''''0 <'I..... .. . . . . . . ..c <'I" CO 0"'<'1 U'l0 ... ..c "COU'l "''''..... <'I..... en C .... ..... OJ en B OJ ... g ... ... .. .... ~ 0 000 000 00 > 000 000 00 en Q "'0'" .."'.. ....'" 6 .. . . . . . . . . en .... VI ...."'co ........0 oco ..... .M en u ...."'.. ..N..... N ... ... a. ..... .... 8- ~ ..... .e ... .. ... fo< > ... u .. ..... .. ... .... .... .... c ~ u ..... ..... ..... '" l>o .e Q ... .. 000 000 00 OJ 0 > g 000 000 00 OJ C cooco .."'..... NU'l ... ..... :>. .!!j III 1 . . . ... '0 .... .......... N.....CO "'''' en ... - ..... III "'U'l'" "'N ..... .. - '" '" -8 c Q lC ... ~ ..... OJ 8- .. III .. ... c r ... OJ .. OJ '0 1Il ~ 000 000 00 ..... 000 000 00 .. ... "'0'" .."'co ........ 0 0 ... oil I . . . u 0 "''''.... "'U'lU'l .....'" :>. ... "''''N <'I..... .... ... ... 0 ..... '" c V ..... ... en .e .. OJ ... ... 0 ..... ..... '0 :. ... c V 0 '0 c ..... c 0 e. ... OJ OJ OJ .. OJ OJ OJ .. '" ..... OJ .. C C C C C C c c ... ..... c ... '" '" .. '" '" .. '" .. en u en '" ............ ............ ........ .. c .. o-l I I I I I I I I !i =' Q ..... 0"''' "'''N "N ..., ... ..... .... c 6 0 0 V :- u ~ c ..... .... ... I .. .. .. OJ ... ... .. ... ..... u .... . 0 '" .M en .. ..... u .. ... 0 . oil .... .. ....c .. ... ..co 1Il ..... ... I..... ~ ... oil '0... Q ... .. ..... a. ..... ... :>. E .. .... ... ... u .. ..... :>. oil '" .. ... >- u .. '0 .... .. ..c ( '" :. ... c ..ca. 1&0 .. 0 0 .. '0 .. ..., u ... ... .. ... .. .. .. .... 1&0 lC 1Il .. :- ..... .rot.,.. ~ .e... fo<'O 0 .. V . I." t-I - \ '" -' ... ;: . c -I .... .... U >u.._ ....0> -I '" .... V> > ....1- :1:-0 ::IU- -1<1- oc. c( ><'" U <Il .... <Il >- -' ::s :;: ~ .... u < "" < u ~ -' ~ t:l Z .... .... <Il .... >< '" <!:l > Z~1- --1- I--U V><< -0"- X < .... U <!:l z> .... _ ...J:: I--:::l v><-I -00 X > .... ~ -.... -1"- -> UI- < u.. <!:l V> Z "'.... -....z I-CD< V')~...." -::I X Z u.. .... 0 o I- ..... :I: o '" ... > < 3 o < o '" <CD.... CD CD.... N... CD . . . 000 coo OC'>O 000 00Lt> ... ... .... 000 000 000 ""C'>"" ............ ......... 000 ...,...,..., "''''''' ::E:t!:::E ... ... N V> ... ... I- ... -I ... U < u.. l- V> .... 3 I l- V> < .... C '" EftI ......:. 11>"'11> "'11>- "'-> 3V>C I '''' "'C:I: -'" , UE'" C...... 11>11>... ~"'II> "''''- >3V> I- .... .... '" .... V> % I- o ... 3-16 L&JQU< OLnC)M 0"1,....\0('1") . . . . 0000 ooo,"=, 0000 0000 000,,", ..,...,...,...... coco o 0 0,'7) 0000 \OO""Lt) """"N '-'-'-'- ooco ....,""""..-,...., fOracara ::E:X:i:::E: .....,...,.N o ""OJ Lt> C _fUCU_ N-~...J ,...'" -00>, , +ole:...., CUUI_ '1:t_tUU _>_ I ut I '-0 L.U") OM OJ""'" > C\.I U GI _ I_+.l a::_>e:::: . OJ > < "'C C '" ~ .c 01 - % o cncacCQ ('l")CX)("')("') In..,.,....&t) . . . . 0'0'00 0000 0'000 0000 LnOOO .......,... .. 0000 0000 0000 CXJcncn_ ....NN '-'-'-s.... 0000 ....,....,..,..,.., n:tcarara :::~::E:::: "'....,...,. OJ Lt> "'C EtG__ __N", raUIL. ~C-Q,J I CU I > 0_ IG_ M fG_CI:: >U' CUICU') +.lEGI_ =__N OcalGl e::::o..>_ ... V> OJ C - -I OJ II> '" CD CC<Cmc 0,....("')("") U'l(\JU')CX) . . . . 0000 0000 0000' 0000' NOON ...-lIMM_ 0000 0000' 0000 ltOCI)\,Q 0 ........ >.>.>.>. L.s...s...s... rartlratG -0-0"0"0 cccc 0000 uuuu CUQJGlQ.I V') V') V') V) N....C\J ... ... U OJ OE "'C C~ cu U') to '" X_ul:L I N CU I ......"c.GJ --C.O E I - C -'-....,., ...J+.lIU ULt> OJ >. ....c. "'-"CNe. _ CU I _ U::I:-I- ... II> OJ ... ... V> .c ... C'> ill . . J "'C II> '" C - ... C o U '-- \.' '"'' ~ ,.. ,. - J - 'l .... '" ~ o tIl ..... tIl >- .... < z < ~ ..... u < "" < u ~ .... g <.:l 2: ..... !-o tIl ..... >< w ..... ... ... W >u._ "'0> ..... c:: ... VI > "'1- :E_O ::>W- .....e(1- O<>-e( >e(C:: W ." > Z>I- -.....- I--W Vle(e( -CQ. >< e( ... W ." Z>... -.....:E: 1--::> VIe(..... -CO >< > ... > I- -... ..... Q. -> WI- e( u. ." VI :z:: 0:: UJ -...Z I-COe( VI:E..... -::> >< Z.... .... 0 > e( 3 C e( o c:: CCmuc::c LnOOCO oqo..,. \0.... . . . . 0000 0000 0000 0000 Ooana V"lllit...."IIlit 0000 0000 0000 0:)\0 en ,.... ........ S-S-L..L. 0000 ...-,.....,.,.,..., "'latUla ~:::i:::E::E ....N~ o I- ..... :E o c:: u. ll'l .... N , - I . CUCU>Q.. >~ I I <cae", 3.._ LIEL CULl') L.. 0 c._ CU +oJ CLN ~ U eLl I n:5_ Q,......3> .. - ... 1::0 ...... E EU... ...- .. .... OJ OJ ... .... VI .c .... ll'l ~ .., W ucr::c:tc:c M .., . o ocncor"') \ONNLl') . . . . 0000 o o o o M 0000 0000 0000 LnOOan -"IIlit..,...... o o o 0\ .... 0000 ,0000 0000 cn-_c:c ........ ... o ..., .. :E '-'-'-s... 0000 ...,.,.,...,...., tara",", :E:E::E:E .... N.....N "Cl .. OJ .c ~ ... ... e( 1 ll'l .... N , .... OJ o 0 .J::""",C ucu,-", CG.1s...u "''-cucu CI::...,..... Q. , en en Q. OJ 1_ "1:t.....+-J~ ..... I CU I cnOlU'tI s....J:: So. '- CU U +oJ s... > ccn G.J -.. - o::a::_V) .... OJ OJ ... .... VI .c .... .... OJ = I:: OJ > e( o .... ... .. - c:: o ....COe( MMCO O\ll'lM . . . 000 000 000 OCO ll'l00 ............ 000 000 000 ........ll'l ....N.... s....s... I- 000 ...,...,..., ...... :E:E:E N........ .... 1::1::- "OE EI::_ ........... OJ OJ ....> >, .. .... 3 ._ , ....W OJ:E , 0, I:: 1::1::0 ....I:: UE... OJ... OJ 0. OJ> 0..... - ...... 1-3:E .... OJ OJ ... .... VI ... ... - :E 00 00 00 00 MM 00 00 00 "'0\ -- ~~ .... "Cl"Cl 1::1:: 00 Uu OJ OJ VI VI ........ I:: .. E ... OJ OJ 1::.... .... ""'3 , "'OJ ....e e.. =- :: '''' ........ VIe = ...:: OJ e .. ..... >, .... - ... .. .... - 0. '" o :: COW . . . "Cl OJ = e - .... e o W Q MM ll'l.., . . 00 M .... . o o o o o M o o o N N ~ .. ." e o U OJ VI .... e .. E ... OJ .... .. 3 , ll'l - N , ... . ." > - CO '" "Cl e .. - "Cl OJ '" ICI'i ~- c e -' ..... . ..... u . >u..- <u< uu. c u..CO< <c<cc cu CO< . .....0> '" -' a:: OJ ..... '" I/') C ~ .... C 0 U ............ -0....\0 O.....CO MMMC 00 0.... > N\O... 00........ N....N ~......N... .... \0 .....N .....1- . . . . . . . . . . . . . . . 2:-0 000 0.... 0 "'00 0000 00 00 =>u- -'<I- 0<>.< ><a:: U (!l > 000 000 000 OOCO 00 00 Z>I- 000 000 000 0000 00 00 -...,J,_ oog 000 000 0000 00 00 I--u 0..... 000 .....00 CLnCLn 00 NO 1/')<< ........ ....0.... ........... ...~...~ ........ ...... -0<>' ....... X < ..... u (!l 000 000 000 OOCO 00 00 Z>..... 000 OOe 000 OOCO 00 00 -...J:;: 000 000 000 OOCO 00 00 Vl I--=> 00..... 0....0 CO CO... Lt')~'0\\D CO .... '" CO .... 1/')<-, ... ... \0...... ......... - NN Vl -00 - ... >- X > .... ..... < Z ~ < > >,>, I- >,>,>, .... ~ -..... ...... "''''''' .... .. s:.'-.'-.'-. .... "'''' -' <>. 000 :S:S~ 000 0000 00 '" '" - .... -> ...,...,..., OJ OJ ...,...,..., ...,...,..-,..., ...,..., CC .'" ~ Ul- "''''''' GJGJGJ "''''''' I'DI'D 10 I'D "'''' 00 ~ < :E%X ...... 2::r:: ::E:::E:2:2: 2:2: uu .. u.. u..u..u.. GJOJ tJ I/') I/') W ....... .... ~ ... ~ (!l I/') .... Z ""..... ~ -.....Z I-~< 0 I/') -' ....N. .... \0 ... N........ "'N"I\:tN ........ N.... ~ -=> :z: X Z u.. .... ..... 0 f-o Vl .... GJ >< GJ "" .. .... 0 I/') .. ... . GJ I 0_ .c...._ '" 0 ....- ....C , .. I- -~ enGJ" .c '" .. ....... "'.c 'UGJ >, .... cGJ GJ'" :E -.... .... .... "'.c_ O "'~ C.. 0 a:: 0 u'" C :s...._ .... _I/') - ... a:: , 0 ...,CGJ .. en '" I .c I _ I u.. .c~... "'u - '''' c.c - 01'" GJGJ .... , 0_ "'>'C I'D~"'C_ -C "'C ....._0 ... C '" "''''GJ E Lt) c: or- :C:", "'- , >.... -C , :s "" '-.IN:::r: ,- CO_ o _ . , '" 0.. I CII.c I I O.c I GJ _C'" GJ.c_ ..._.c ~~~"'C - 01 "'''' VI I ...- .......C I "'.... I'DO+Jc: 1_ C'" ..... -2: a:: ""en_ -...en 3...Ln(\,l -:c: ""'CO - I- - -' - . U >, GJ < GJ .... '" > '" ... > CII 3 < - > < ..... CII .. < :c: ... .. '" C 0 3 I- 0 N .... .. '" ... 0 S .c I I/') .. e U < U ... GJ .. - 0 I/') C ..... - GJ > a:: I '" I/') .... ~ :r a:: '" I- 3 a:: 0 Z lilt . .ft 0 0 . U u.._ -' ...... u..u.. ...... U 00:- >u.._ U U U < <ceo f-u ~ ......0> Vl ...... -' "" U 0.. ...... - '"" V) V) u.. z u.. - . < "" a: a: ............ f- ......> z: ...... -' -::;. 0 0 lXl "" .....""0 < ,",,0 >- '" '" ll'l "" ........ll'l - Z::c ...... f- . . . . . U ...... ::E:-O 0 0 0 0 000 ...... ::>U- 0.. U . -' < f- Vl - z: 00..< u.0 ><a: ...... u._ U ::t: < f- f- a: V) f-...... '"" >- 0 0 0 0 000 0 '"" Z>-f- 0 0 0 0 000 z: Oz --,- 0 0 0 0 000 < ZO f--U ll'l ll'l N 0 000 -U V) < < ... - - .... """""" '" 0 -00.. lXl a:0 >< < 0\ <0 ...... U - Z_ -' a: a: ....... '"" 0 0 0 0 000 < ~L.&.JV)> z: >-...... 0 0 0 0 oog U CO Q,.. L.I.I&.u -....JZ 0 0 0 0 00 a: Vl -' Ul f-- ::> 0\ 0\ ..... "" ll'lNll'l - Z"">- .... V)OO:-l - N_ U <C<C....JLU Ul -00 (/)L.&.J<CU ~ >< > 0.. o..z_ ...... < u. 00:> ~ ::E: OX a: ~ 0.............. >- >,>,>, f- >- Vl Vl V) f- ......... Z f-O...... 3 >- -...... ... ... ... ... """ '" ::;, -Z%>-O - ... -' 0.. 0 0 0 0 ..,..,.., 0 U<C.........J-J .... ->- ...., ...., ...., ...., <::<::<:: U - -' ~ :.J Uf- '" '" '" '" 000 1.&J:i:>c(O < < ::E: X X X uuu U ::Z::CCc:cC~ c.. u.. OJ OJ OJ - f- < V) V) V) u. ......O~ V) OJ U u. CXL.&.JL.&.J<C "'" ..... < ZO.........J ~ = ! a: c(V')!.&..CCL.&.J ~ f- -<a: '" Vl V')UJ~~< "'" za: ...... 0 L.&.JXZQ.. C -......z z: ~~L.a..lu.J(/) > f- lXl < - c:CV')C1U_ '" V)X-l N N N .... ............ 0 -V')-uV') -::0 a: U< e(> ...... u. u. :z: ><Zu. < o W.....J .... ...... 0 z: V). eo < E- a: V)L..I.l L.LJZ Ul ...... <:1-%< .... .., al Of- >< a: V)wZ V') OJ Z ~u c- 0\ <:: < C_>L.&.J% C'\ . >, V) ><0::1-- .+ .... 0<:: >-c::::E:L.I.l 000 ... ""U U. CCLLJ CZ 100 0 al ... 0 V)tn-- ll'l . . f- E .- c :4(1') lXl_N .... ~ OOJ~ >- L.l.JLL.WZC . X -........ f- ~o~8~ 0 0 .., - '" IX " - a: <:: ... 0.. I C1 U ...J...JO ::) u. ...... - I OJ. ...... a: Vl I .., .., .c '<::0 ~ >~Q.._V> I- <:: <:: V) .....~"" ...... ...... QJ !oJ !oJ Vl_ a: c~zut!' .c . I 0 OJ . U. o Z '" .., .., - "''''OJ L&J -V"J< ~ <:: <:: I ..."'..... C O:::~1-0~ u. ...... ...... - "" eo a: L&JNL&J U...J <CCUQ >03 L.a.I ....J _~ V>(,I)V')L&J O::IV)L&JO:::_> LI.Itl:JL.&.J-LI..IV)L.&J . cz.-I--I->-....J QJ I- w.n- ...... z -' > 0 Cl c:(1_W_<L.&J ...."'.... < "" ... .....,,"u< ZU aH,n. \C CXj >- E "" OJ '" <aJ<C~CC:C""" "" . . . < - I- a. '" c a..<w > .oee 3 '" QJ . a. 0 Cl<cUNV)O::: 01 . I Cl 0.. .., OJ OJ a: l.&JZU __L&J 'Olne c:( - .... 0.. X_ >-J::Z::V) O'lll:tl.l')"'" 0 " a: - =>1-:w::....J<.... 0000 a: 0 OJ ......J V> z...... U LIJ eo 0 V)O--<OZ::z:: L.&.J>....J...JC...J_I- f- , O~ ~~ ~~ z: _ "''''' ....ll'l 3-19 IU";l o o M14 The title of Figure 8 will be changed to indicate that the information refers to 1987 existing conditions. Traffic volumes are provided on Table 12. MIS The word '1ane" in the referenced paragraph will be changed to "land". Beginning with the second sentence in that paragraph, the remainder of the paragraph will be rewritten to read as follows: ''However, downtown parking supply has been a problem, although free on-street parking is permitted along most of the streets in downtown San Bernardino. The City did not previously have any set requirements for on-site parking. When the CBD was redeveloped, a parking district was created, although parking was still insufficient to meet code requirements. While the district was created to address parking for customers, current surveys indicate that 83% of parking places are utilized by employees (some of whom are also customers). M16 The following information will be added as Section d. "Air Transportation" to p. 4- 95 of the EIR: "There are currently five airports serving the public in the regional vicinity of San Bernardino. The closest commercial airport is Ontario International Airport located in the City of Ontario, southwest of the of planning area. A second air carrier airport, located in Palm Springs, would not be utilized as often due its distance from the planning area. There are also three general aviation airports in the region: one to the west in Rialto, the second to the southeast in Redlands, and Riverside Municipal Airport, 12 miles to the south in Riverside. The Rialto Airport is also used as the base for the County Sheriffs helicopters, which are used on occasion by the City. The future utilization of the airport at Norton Air Force Base in the southeast corner of the City has not been determined at this time." M17 The words "by the model" will be added after the word "forecast", first line, bottom paragraph, p. 4-97. At the end of that same sentence, the following phrase will be added after the word "buildout": "at maximum intensity allowed by the Draft Plan". I.., o o M18 The typo referenced in the comment will be corrected in the EIR. The remainder of the text referenced will stay as it is currently written. It is not the position of the EIR that these policies could impact development and possibly result in a "no build" situation. The point of the discussion is that the goals of these policies may be unrealistic given that a "no build" situation is not a viable option. By examining Table 12, it is clear that even without any future development, existing conditions are such that the goal of Level of Service C may not be a realistic standard for the City. M19 Figure 9 in the EIR will be replaced by the map shown on the following page. M20 The referenced sentence will be changed to read as follows "Prior to development, a detailed traffic analysis should be required for projects expected to produce vehicle trips in excess of a threshold to be established per implementation program 16.13 and appropriate mitigation measures identified to reduce trip generation and/or maintain a Level of Service C". M21 This change will be made to the EIR as requested. M22 As indicated in the revisions to p.4-203 of the Draft EIR (see response to comment El, this document), policies 12.3.1-12.3.4 and implementation program 112.1, 112.2, 112.5,112.6, and 112.18-22 address the identification and reduction of the potential for liquefaction hazard. These policies and programs discuss specific design standards developed through liquefaction reports in order to avoid structural collapse. III ^ ~ - - - -.. ....... ...................... -...... - - - - - -... ...... -. ..AI -- ~lAY 4' 89 1 02 V -- ------------------ P~GE.02 'Uj I ,) I .. 'I, f ~....... I ~! ~ .: ~ ..I ~.. 1'- i ~ . l i , ::- . . ~ -, .::.c.., ~t'''' . A~ " -~(" \ .' , ..~ ',~ "'~ 'I, ~, .. I I I I ,--- f '. '-j ,.. I I I " oJ ~ - a: 0 oJ W 0 ~ t- o a: ... - II: < Al w I- >- II: 0 >- a:: II: 0 ~ - Z < < Cl I- ~ < ~ II: Z Co) oJ w II: a. w 0 0 oJ W ., Co) oJU z If ~ w 0.... 0 ::E 0) Co) > - t- < I I . i .." I = I Co) I a: - I Co) . j-l --' ,\ r--- " I , I 1""\ I -, I " , I , 1----" I I_~ I I.... '-, I, I., I----..,t\-~"!' : Lu'::H I ,~~ : ,... r ,-.- f It ..........-.-'1 : I : i. : j-....- : ~-"i:.1 . ....., t-----.-- - I I ., , . J .. I . !... ,1 , I ....,,,..".. ",.. ..... ... ...... -" " ........"........" Ie; ~...... ':::J.............. .,~ ...........I....~ ..... ~ I I~ - o o M23 The first sentence in section 4.4.1.4 "Mitigation Measures, Geology /Seismicity" will be amended to read as follows: "Concern with geologic and seismic issues in the planning area has led to Plan objectives, policies and implementation programs that address mitigation of fault rupture, strong ground motion, liquefaction, emergency preparedness, and post disaster reconstruction. Of primary significance in these policies and programs are critical facilities (those whose continued functioning is necessary to maintain public health and safety), sensitive facilities (those used for manufacture, storage, or sale of hazardous materials, or socially significant facilities, e.g., schools, nursing homes), high occupancy facilities (public or private structures for housing or assembly of large populations), and hazardous buildings (unreinforced masonry, precast concrete tilt-up, soft-story, and non-ductile concrete frame buildings)." M24 The following information will be added to Section 4.4.4.2 "Project Impacts, Noise" of the EIR: "Short-term noise impacts will result from construction of both proposed land uses (e.g., houses, office buildings) and infrastructure required to support those uses (e.g., street widening, utility extension). As indicated in Figure 25a, noise levels associated with construction equipment range from just below 70 (dbA) at 50 feet from the noise source to above 100 (dbA) at 50 feet. Although these noise sources will not be permanent (unlike the increase in vehicular traffic/noise) they will significantly impact localized noise levels for a relatively short period of time," The following information will be added to Section 4.4.4.4 ''Mitigation Measures, Noise" of the EIR: "In response to the concern of significant short-term noise impacts related to construction, policies 14.8.1 and 14.8.2 and implementation program 114.6 require that construction activities adjacent to residential use be limited as necessary to prevent adverse noise impacts, require that construction activities employ feasible and practical techniques which minimize the noise impacts on adjacent uses, and restrict hours of operation of construction equipment within and abutting residential areas." .rl o o FIGURE 2'5iL. NOISE LEVELS FOR TYPICAL CONSTRUCTION EQUIPMENT REFERENCED TO 50 FEET NOISE LEVEL (dbA) AT 50 FEET 60 70 80 90 100 110 COMPACTERS (ROLLERS) . FRONT LOADERS w I Z Cl BACKHOES a z I I z ~ w z ::t TRACTORS ~ I I :r , I- SCRAPERS. GRADERS ::l a: m c( ::t w 8 PAVERS . ...J c( TRUCKS z a: ~ Cl CONCRETE MIXERS 2; z ...J ~ C z CONCRETE PUMPS . c c( w :r a. ~ ~ c( CRANES (MOVABLE) . CE W I- ti CRANES (DERRICK) . z ::t w ::t PUMPS Q. > :5 a: fil c( GENERATORS . z 0 ~ COMPRESSORS tl t~ PNEUMATIC WRENCHES JACK HAMMERS AND ROCK DRILLS ~::t ::t!!: -::l fil PILE DRIVERS (PEAKS) a: - VIBRATOR w I 5 SAWS I Note: Based on limited available data samples. Source: EPA. 1971- "Noise from Construction Equipment and Operations, Buildin9 Equipment, and Home Appliances," NTID 300-1. II:'} o o N CITY OF San Bernardino PLANNING DI,ARTIIINT May 1, 1989 Mr. Joseph:Gibson ENVICOM Corporation 4764 Park Granada, Suite 202 Calabasas Park, CA 91302 Dear Mr. Gibson: The Planning Department of the City of San Bernardino has reviewed the Draft Environmental Impact Report for the General Plan and have the attached comments. Because we were not given an opportunity to review an administrative draft of the Draft Environmental Impact Report, our comments are somewhat extensive and include reference to typos and minor work modifications. We look forward to reviewing your responses prior to receiving the final Response to Comment document. If you should have any questions, please call Ann Larson at (714) 384-5057. Sincerely, rad L. X' ger Director of Planning .,;.. ~. BLK/ALP/nmg ATTACHMENTS ':-;':,.~'~'~.--. ';"J."': a 0 0 NO lit T H . D' . T R E E T '. ~.' . - ....,.:.;.;_.~--~--.c A L " 0 lit N I A . 2 .1..000, " PRIDE.I . AN. ERN A R DIN D. :...:::::.,NPROGRESS , t . I I . . . . . I' . :-:.-:'"':-::-::1!!IL.~ s","2' Introduction o o DRAFT REVIEW COMMENTS CI1Y OF SAN BERNARDINO GENERAL PLAN DRAFT ENVIRONMENTAL IMPACf REPORT The City of San Bernardino is in the process of preparing a new General Plan to update its existing Plan. Envicom Corporation prepared the Draft General Plan and subsequently compiled a Draft Environmental Impact Report (EIR) for the General Plan. At the request of the City Planning Department, a thorough review of the Draft ElR has been performed and this document provides City staff comments on the EIR. EIR Comments Page 1-2: Page 3-1: Page 3-2: Page 4-31: The ERC is left out of the Flow-Chart (Figure 3) on this page. Correct this omission in the Final EIR The environmental setting does not provide a comprehensive description of the natural and man-made environment that provides the setting for the General Plan. As obvious examples, this section does not identify the severe geotechnical environment that exists because of the presence of the San Andreas and San Jacinto Faults nor does it present any information regarding the severity of air pollution in the region. Instead, a meaningless discussion of topography of the Santa Ana River and Lytle Creek are presented and the authors could not even characterize "incised stream channels" accurately. No information was presented on the status of the City's public utility and service infrastructure. Section 15125 of the State CEQA Guidelines requires that the environmental setting section be no longer than required to understand the significant effects of the proposed project, but it must have some content. Finally, no regional information is presented, such as the bounds of RSA 29 and the general resources found within its boundaries. This can and should be corrected by adding a summary description of each of the pertinent environmental issues. . A page is missing from the Draft EIR distributed to the public. Please insert the page in the Final EIR. Is the Santa Fe Railroad considered a public or quasi-public use? If so based on what and what other uses are considered public or quasi-public? This needs to be defined for readers who may not understand. 1 , 2 (3 \4 .,.. Page 4-35: Page 4-35: Page 4-37: Page 4-40: Page 4-40: Page 4-40: Page 4-41: Page 4-41: o o In the last sentence of item #7, the term "with limited new development occurring" needs to be explained in order to characterize the significant land use issue being referred to. In item #8 the relationship between developed parcels and key activity districts needs to be discussed. Similarly, the importance of "clear linkages. needs to be described. Examples need to be provided. The imp;tct discussion begins with a description of the benefits that the Draft Plan policies and standards will cause. This section is indicative of the focus of this EIR on the benefits of the Plan and not the averse impacts. Land use issues are a synthesis of all other issues and this is not reflected in the text of the EIR. This section consists more of description than of analysis. In the sentence that comes on the page, a substantial change in land use pattern in the southeastern portion of the City is not assessed for impacts. Instead, the analysis should have estimated the number of houses that will be eliminated, particularly low income or affordable residences, and assessed the potential adverse impact. At the beginning of section .c" the comment is made that "In general, development in accordance with the Draft Plan will improve the compatibility among land uses." Throughout this paragraph policies are mentioned with no specific reference that allows verification or understanding of the degree of mitigation provided by the policies. Again, the specific policies that can accomplish this goal are not defined. Further, there is no way for the reader to independently verify the assertions made by this statement. Also, the term .in general" is so unspecific as to have no meaning unless it is placed in context by noting the exceptions. In the next to the last sentence in .c. paragraph, a conclusion regarding land use conflicts (compatibility) and the ability to adequately mitigate conflicts is made. There is no analysis to reach this important conclusion; no criteria to judge how this conclusion was reached; no specific reference to the policies that "ensure their adequacy" when referring to buffers. The policies should be referenced; analysis presented that justifies conclusion; and a supportable conclusion presented. In the first full paragraph on this page the potential for conflict between uses in areas where residential and commercial uses is discussed, but no conclusion is reached. Again, in this paragraph policies are referenced that are not presented, therefore no conclusion as to their effectiveness can be drawn. The solution to this error is the same as the previous comment. In paragraph .d" the discussion focuses on the positive impacts of further quality of development and construction, rather than the potential adverse environmental impacts. In such a case the appropriate method of addressing 2 ~ I~ i- 8 Gl I 10 /I \ 10- I~~ Page 4-41: Page 4-42: Page 4-42: Page 4-42: o o this issue would have been to cite the pertinent policies and then draw a conclusion that all of the policies result in beneficial, not adverse, impacts. I" . Because of the manner in which the information is presented in this text it .<./ is not clear if there are any adverse environmental impacts or not. By presenting or refe~encing the policies and then rewording this paragraph to draw a clear conclusion this section can be corrected. In paragraph "e" there is a reference to "districts" that will undergo transitions. However, I do not believe that these districts have been identified. Therefore, the reader does not know where these transitions will be and can not make an independent judgment regarding the potential significance of such transitions. A map illustrating the "districts" should be provided and specific references made to the ones that will undergo transitions. Equally important, these transitions are identified for the west (not identified where) and the foothills and no assessment of the significance of these changes is made. Are there adverse impacts associated with transitions from suburban to urban intensity uses or from undeveloped foothill areas to rural suburban settings? This paragraph needs a clear conclusion regarding the specific types of impacts that occur from the transitions and the significance of these impacts. In paragraph "f' the loss of a substantial amount of open space in the community is identified. No criteria for judging the overall or local significance of this loss is provided and no conclusion regarding its significance is presented for the reader to evaluate. This information should be provided or corrected. Staff indicates that the 12,146 acres referenced in Table 4 on page 47 is not all open space, but includes total land use change for vacant and developed land. 13 14- This is a conclusionary statement. It fails to provide any content for evaluation by the reader. What is the compatibility issue referred to in this paragraph? Where on the southeastern boundary does it occur? What is the basis for incompatibility? Does the Draft Plan cause this compatibility problem or is it one that already exists? This paragraph needs to be supplemented with some analysis that elucidates the issue and allows appropriate conclusions to be reached. Paragraph "b" presents the reader with a dilemma. One of the major impacts that I perceive with the Draft Plan is that it could result in loss of affordable housing and displacement of current residents without providing them with a replacement unit. This issue calls for careful, quantitative analysis that relates total future affordable housing needs (this would include new and displaced affordable housing demand) based on the Draft Plan. Further in this paragraph it is noted that the housing and loss of historical structure impacts may be mitigated, but no conclusion is reached. Thus, the reader is not presented with an understanding of the actual degree of adverse impact that will remain after implementing policies (which need to be specified). This information should be included in the Final EIR. I~ 1& 3 , C,_ Page 4-43: Page 4-43: Page 4-44: Page 4-44: Page 4-44: Page 4-45: o o In paragraph "d" the text raises the issue of a substantial density increase for the City as a whole. No discussion of the consequences, if any, are presented in the EIR. This issue should be addressed in the Final Em. The increase in density should be related to circulation system and all other infrastructure system impacts. This should be characterized in the Final Em. An unusual impact from "recycling" existing homes will be a substantial increase in solid waste that has not been addressed anywhere in the Em. Finally, the changes implied in this document will result in substantial changes in existing neighborhoods that may be considered significant. Each of these issues should have been fully discussed in the Em. /"1- Paragraph "eO discusses "intensification" of land uses and change in character in the Verdemont area and other unspecified areas within the City. These other areas should be specified and then an analysis of the consequences of intensification must be provided. This section of the document does not present any conclusions regarding the potential for adverse impact and this deficiency must be rectified. 15 In paragraph "a" which comes on to this page there is no discussion of which are existing commercial areas and which are new areas. Only the beneficial impacts of unreferenced policies are discussed and there are potential adverse impacts associated with both existing and new commercial centers, regardless of their quality. These issues have not been examined and should be examined in the final text. Are there any adverse impacts a5S04;iated with the policies that result in unique commercial centers? Without knowing which specific policies are being referenced it is not possible to draw any conclusions regarding this topic. In paragraph "c" the issue of conflict between building height and future air operations (commercial or military) at Norton are raised. There are no data or explanation of the basis for this statement and no conclusions regarding the potential consequences of this potential conflict. An analysis and conclusion of the extent of conflict, its significance and possible mitigation measures must be provided in the Final EIR. lq ?J) Revitalization and upgrade are discussed (without reference to specific policies) in paragraph "e" as benefits. No analysis of what these terms mean as actual physical changes to the environment is presented. Such an analysis needs to be presented and conclusions regarding potential for adverse impact must be presented. The conclusion presented in the first full sentence on this page seetDS incorrect and is not supported by any analysis. Increasing the vitality (how is character increased? and what does that statement mean?) is more likely to cause greater incompatibility between commercial and residential uses because the activity associated with commercial operations is one of the 2/ :2').. 4 I '5-r Page 4-45: Page 4-45: Page 4-46: Page 4-47: o o primary sources of conflict. This conclusion needs to be reexamined and either deleted (and replaced) or justified with sufficient analysis. In the first full paragraph on the page it is not specified if one or all corridors will be permitted to have mixed residential and commercial use. Do circumstances vary in any of the corridors? What is the basis for the conclusion that the reduction in overall capacity of commercial development ! "will be a significant benefit." There is no obvious benefit from this reduction I' or the City would reduce the overall commercial designations within the Plan. , Without further justification, this conclusion should be revised or deleted. I The compatibility impacts between commercial and residential uses are again I raised with no analysis of whether they are potentially significant or not. \ Finally, in this paragraph it is not shown how which development standards would achieve the claimed mitigation and what the ultimate level of \ compatibility would be. All of the above deficiencies need to be corrected in the Final EIR by supplying the requisite analysis and the conclusions derived therefrom. In paragraph "f' is a discussion of the significant changes due to regional service uses. No discussion of the basis for this conclusion is presented. Further, reliance on preparation of a specific plan provides no basis for mitigation. Such a plan may simply show that such impacts cannot be mitigated. What this section does is to defer analysis to the future that should be accomplished now. If the land use changes are actually significant and specific mitigation cannot be assured (i.e. is deferred to the future), then I would conclude that the impact from the allowed land uses at the regional centers is unavoidably significant and adverse. The findings regarding traffic impacts in the Tri-City area would support this conclusion. The text of the Final EIR at this point should be revised accordingly. The first two sentences on this page discuss elimination of incompatible uses, but do not address the adverse impact of displacing the existing uses in terms of replacing the housing or commercial resources that they represent. Some general characterization of the amount of resources in each category that will be lost must be provided. In paragraph "b" the statement is made that open space will be lost, but no analysis of the type and amount of open space being lost is presented. Further, no analysis of the consequences is provided for the whole planning area or specific segments of the area. This section fails to assess whether there are adverse impacts associated with creation of new public parkland and recreation areas. Just because such uses may provide benefits for the community does not mean that their development will not cause loss of valuable habitat or cause other adverse impacts that can be considered significant. This information needs to be included in the Final EIR. 5 \'):- I 1-3 ! ; I I \ ~+ I I I I , I ( ~5" \ ~. Ic;9 Page 4-47: Page 4-47: Page 4-48: Page 4-48: Page 4-49: Page 4-49: o o 11- 25 I '.t\ 30 31 \O~ Page 4-49: In the second full paragraph on this page the discussion again address the I mitigation incorporated in the Plan to reduce impact on the hills and that adjacent National Forest lands will be complementary to these lands. There ~? is no basis provided for this conclusion. Specifically, the only way to determine whether intrusion is extensive or not is to define what level of development will be allowed and then provide a criteria for determining what The whole section discussing impacts of the City's Draft Plan and adjacent land use plans suffers from not having any supporting graphics that describe both the existing land uses and the uses allowed under each jurisdiction's general plan and zoning. Thus, the conclusions regarding compatibility cannot be independently verified and one must either accept the conclusionary statements made by the authors or reject their findings. Thus, each of the discussions in this section need to be rewritten to incorporate sufficient data to allow an independent fmding to be made. The last full sentence on the page certain "portions of the land" abutting Norton are identified as being compatible. This discussionis totally unclear as to what land is being referenced; what uses are being considered compatible; and what the basis is for judging the proposed uses compatible. This information needs. to be incorporated in the Final EIR. The paragraph that comes onto this page has so many contradictions that it is not possible to determine what it is saying. First, it is not,clear that impacts can be mitigated for much of this area because many of the uses already exist and buffering does not appear feasible. Second, the incompatibility issue appears resolved in thefU'St part of the paragraph and is then found to pose potential significant adverse impacts that may need additional, undefined mitigation. This analysis needs to be replaced with a new text that provides maps, details and a conclusion based on facts, not conjecture and unsupported conclusionary statements. In the last sentence of the first paragraph on the page, the claim is made that land use compatibility impacts. between the City of Highland and Draft Plan uses "are mitigated" by certain land use controls. None of these controls are described nor is there any basis for determining that mitigation is actually achieved. This section needs additional support text and evaluation. The same comments apply to the second full paragraph on the page. In the full paragraph coming on the page, the conclusionary statement (although it may be valid) is not supported by any analysis in the text. Additional text and graphics need to be added to support the conclusion. The Specific Plan to the west of East Highlands Ranch discussed in the first full paragraph on the page contains substantial medium density designations and the compatibility analysis presented in this text is invalid. The Final EIR text should be revised to address the actual specific plan designations. 6 III:Q Page 4-49: Page 4-49: Page 4-50: Page 4-50 Page 4-51: Page 4-52: o o is and is not intrusion. There are probably areas where any intrusion is considered significant and this evaluation should have identified these and criteria for intrusion along the rest of the National Forest/City boundary. In particular wildfire hazards are substantially increased when access is provided ,?'Q into or adjacent to the National Forest. The policies for slope management need to be cited: Finally, does the Forest Service agree with the term "generally" regarding the Plan promoting complementary, i.e. compatible, land uses. There is no factual basis or analysis to justify this conclusion. Basic data need to be provided to present this information in the Final EIR. In the last full paragraph on the page, the basis for the conclusion of compatibility between extractive industry, light industry and low density residential is not clear and appears questionable. The basis for this . conclusion needs to be presented or a revised analysis and conclusion should be provided in the Final EIR. In the first sentence of the last paragraph that begins on this page, the term "is supported" does not make sense in the context in which it is used. This needs to be clarified in the Final EIR. A map needs to be provided to confirm and justify the conclusions regarding compatibility in this paragraph that ends on page 4-50 of the Draft EIR. In the first full paragraph on this page, the discussion of compatibility between single-family residential and multi-family units is not clear. Is not this area already developed and if so, how can buffers be installed in such areas to mitigate existing potential conflicts between the two uses? On what basis is there compatibility between the uses on Mill Street? There is no foundation established for this conclusion and it is intuitively difficult to accept. Data needs to be provided to support this conclusion. The conclusionary statement in the final paragraph that starts on this page contradicts some of the previous analysis and is not supported with any verifiable data. It is based on a sequence of conclusionary statements that, as has been shown, do not contain any supporting facts or analysis. Further, the recommendations that preparing specific plans provides mitigation is not valid. Preparing a plan does not ensure mitigation unless the unequivocal result of that plan is committed beforehand, i.e. that the plan will have as its primary goal the mitigation of the conflicting land uses. The manner in which this EIR discusses such the specific planning process does not result in any mitigation. Mitigation measure 2 does not provide any actual mitigation and should be deleted or reformulated. Mitigation measure 3 seems to be placed here in error. What impact is it designed to mitigate? No significant adverse impact has been identified for this issue in the text of the EIR. Delete this measure or provide some 7 \:4 "L ~-' ./ ?;;~ 31 \ \ 3~ \ 3q ILn Page 4-52: Page 4-52: Page 4-53: Page 4-53: Page 4-53: Page 4-54: Page 4-54: Page 4-55: Page 4-57: Page 4-59: o o \ '~'\ analysis that justifies its inclusion in the EIR. No discussion of possible adverse impacts from proposed mitigation measures 't) is provided and at least a summary statement with some rationale must be provided for the Final EIR. . The level of significance discussion does not have any basis for the conclusion \ that all impacts are mitigable as previously noted. Further, the language in the text of the remainder of this chapter contradicts the conclusion regarding I 4 \ significant adverse impact because it speaks of substantial land use change to existing land use designations, increases in density and intensity of overall development and loss of irretrievable open space and vacant lands. I interpret these impacts as being significantly adverse and unavoidable. At the end of the first paragraph on the page is an example of a very common 4 error in this EIR, that is, a failure to supply sufficient references for '1.. information presented in the document. What is the basis for the conclusion that 58,571 units will be located within city limits. A citation or basis for this finding should be provided to the reader. The next to the last sente.nce on the page is redundant. The same fact is \ 4-' presented in paragraph two on this page. It should be deleted. In the last sentence the issue concerning location of these units needs to be better addressed. The area of dispersal is too generally defined in this sentence. Specific percentages or a more detailed qualitative discussion of this issue needs to be presented. In the second sentence on the page, the term "newer areas" is too ill-defined to have any meaning. Is it intended to mean that new developments contain standard-sized subdivisions? If so, what is standard sized. Clarify in the Final EIR. Last sentence on page, the basis for the owner occupancy percentage estimate needs to be cited. A citation is needed for the local housing and costs cited in the last full paragraph on this page and the last paragraph that begins on this page. This should be corrected in the Final EIR. In the first sentence on the page the term "share of projected population" is not referenced to any measurable area. Is it a share of the RSA's population or the regional housing needs assessment allocation? This should be clarified in the final EIR. Note also that the analysis in the housing section presents the benefits of the project instead of focusing on the adverse impacts. I perceive a contradiction in the discussion of development on this page. The 8 \* \ 4'<; \4(p \41- ~ \~ II l Page 4-60: Page 4-61: Page 4-61: Page 4-62: II o o EIR indicates that SCAG's projections would cause sensitive areas to be developed. In fact, the General Plan already provides for such development, with the possible exception of locating houses on top of faults in Alquist/Priolo zones. All areas of the City are given a designation that would ~ allow developmen~, albeit at a lower density than might be envisioned by the SCAG plan. This contradiction needs to be resolved in the Final EIR with a better rationalized statement supporting the lower housing development figure over the next five years. In particular, the basis for the number 5,802 houses needs to be presented to demonstrate that it was not just grasped out of thin air. In the last full paragraph on the page, a discussion is presented which implies that residential neighborhoods will be maintained at a high level. However, this is misleading because the degree of maintenance is actually tied to the City's building code requirements which are not presented or discussed. Does 60 the building code contain requirements which will enforce maintenance at a level that will preserve existing residential housing? If so, the specific sections in the code should be provided (if short enough) or summarized and referenced. The same problem occurs in the final paragraph beginning on this page. The EIR text references policies that will facilitate production of affordable housing, but the specific policies that accomplish this goal are not presented for the reader to make an independent review. In the first three paragraphs on this page, citations need to be provided for \ 61 each section of the Plan referenced. The discussion in the last paragraph on this page is critical because it presents the argument for not meeting the SCAG affordable housing projection. Because it is such an import9.!1t point, I would have expected a substantial analysis of the basis for the conclusions in the paragraph or reference to such analysis. Instead, the inability to meet affordable housing projections (by a sizeable 90%, or 4,341 units) is attributed to an undefined "market." Such a conclusion poses a very significant problem for the City because as stated in ,/,..., the land use section of the EIR, many of the land use designations and '? .J.-' policies will cause the elimination of existing affordable housing. The net result is that the Plan will reduce the overall available affordable housing and not meet the future demand as projected in the RHNA Further, the analysis of affordable housing is extended only through 1994 and does not consider the total scope of the affordable housing impacts through the life of the Plan. The potential impacts of the Draft General Plan on the affordable housing needs of the City has the poteritial to cause severe (significant adverse) impacts on the City's population and the RSA's communities. This potential impact is not adequately or honestly addressed in this document and it needs substandalaugmentation in order for it to be considered adequate. There is no analysis of impacts in the Housing Distribution discussion on this \-'S?J page which is consistent with the analysis in the land use section of the EIR. 9 ,,~ Page 4-62: Page 4-62: Page 4-62: Page 4-64: Page 4-64: Page 4-68: Page 4-69: Page 4-69: - o o A summary statement of whether the land use changes incorporated into the 6?J Plan cause significant adverse impacts should be presented here. This section does not present any analysis of the Plan's impact on the quality of housing, either the present housing stock or future housing. An evaluation of this issue needs to be included in the Final Em. The cumulative impact section does not contain any analysis, just a statement of the obvious with no conclusions regarding potential adverse impact. Specifically, if the City of San Bernardino does not plan to construct its affordable housing allocation, what impact does this have on the surrounding communities? This issue poses very significant potential cumulative housing impacts because the SCAG regional housing allocations are based on communities meeting these defined needs. H the City fails to meet affordable housing needs, particularly by the 90% projection, then the impact is shifted to other communities because the demand is not going to disappear. In fact, some of the City's policies will further exacerbate the problem. Although the City challenged the RHNA, the discussions of significant and cumulative impacts from no fulfilling its share of the housing need must still be discussed. No discussion of mitigation measure impacts is provided and at least a summary statement is needed in the Final Em. In the fourth paragraph, second sentence change "1940" to "1840". The whole description through page 67 section suffers from a lack of maps to illustrate the locations being discussed. One or more maps need to be provided, especially the boundaries of the areas surveyed for.historic district merit. Further discussions on these districts will be of less value without illustrating their boundaries. At the top of the page, what is the basis for identifying the three parks as historic? Is this a formal designation? Please clarify the significance or meaning of this designation. The analysis section does not provide the fundamental data to understand the nature and extent of historicjarchaeologic resources (and data) that may be impacted by the Plan's land use designations and policies. The reader is not presented with any sense of whether the resources discussed in the existing conditions section can or will be lost as a result of adopting the Plan. Further, the mitigation identified at the top of this page is optional and therefore does not accomplish the reduction of impact implied in this discussion. The cumulative impact discussion is unusual to say the least. Up to this point we have had no discussion regarding monuments in the City that may be impacted by air pollution or pollution(?). Second, I am not sure that such 10 15+ 66 /6& /61 65 \6l (;0 {pI . I 't Page 4-69: Page 4-70: Page 4-72: Page 4-72: Page 4-75: Page 4-75: Page 4-75: Page 4-75: Page 4-76: ~ o o pollution will impact historic structures. This conclusion needs to be referenced to provide confirmation. The proposed mitigation, notification of historic resources, does not accomplish reductions in impact to significant historic/archaeologic resources. It establishes a strhcture in which mitigation can occur, but does not guarantee its occurrence. No assessment of impact from this measure is provided in the text and it should be included in the Final EIR. The unavoidable adverse impact section does not address the same impacts analyzed in the text. There was no discussion of monument destruction from increased visitor-use days or traffic impacts on older structures. The impacts discussed in the text were related to future uses allowed in the Plan impacting significant historical or archaeological resources. The unavoidable adverse impact discussion needs to be revised and/or the text of this section needs to be augmented with the additional issues raised on this page. In the fourth line on the page insert the work "low" between the words "the" and "desert". In the fifth line insert the work "high" between the words "the" and "desert". In the eighth line on the page change "provided" to "provides". Throughout this discussion of roads two important features are missing. First, each discussion should be referenced to Table 12 which presents level of service data for existing streets. Each discussion road should present the current traffic flow status in the discussion to enable the reader to have a good understanding of the circulation system and its current functional capacity. Second, the adt's and LOS information should be portrayed on a series of maps that allow the reader to visually reference the information. The text discussion is so long and complicated that it is difficult to keep track of related circulation system information. A few maps would overcome this problem and they need to be provided. Second line on the page, should not the word "Highway" be "Way"? The last sentence of the Rancho Avenue discussion does not make sense. The double reference to south should be reworded to clarify this statement. In the second line of the Cajon Boulevard discussion the word "Devon" should be "Devore". In the flrst line of the Mount Vernon Avenue discussion the word "form" should read "from". In the second line of the Tippicanoe Avenue discussion the "San Bernardino Airport" is referenced. There is no such facility. Further, Tippecanoe does actually extend through Norton (not sure if the name remains the same on the base) and given that Norton may close, then Tippecanoe may become a 11 \ (r I \~L (03 04- - (/ && \&1- i 0f? ",q 10 ., u Page 4-17: Page 4-77: Page 4-77: Page 4-77: Page 4-78: Page 4"79: Page 4-78: Page 4-80: .4 Jtb. o 0 more important north south thoroughfare between the 1-10 Freeway and Baseline. Of all the traffic impacts that may be changed as a result of Norton 10 operations, this one may have the greatest effect and should be analyzed in the General Plan Circulation Element and EIR or in an amendment in the near future. In the Creek Road discussion, second sentence, the road is described as a six-lane divided facility. I believe that it currently has only four lanes, but its width may accommodate six-lanes to Baseline. This description needs to be completely revised. In the third sentence the word "volumes" should read "volume". For other roads that continue to Interstate 10 outside the City a description of the road and its status is presented. This is not provided for Boulder Avenue/Orange Street in Redlands. In the discussion on 40th Street, I do not believe that 40th runs from Kendall Drive to the San Bernardino City line. This statement needs to be confirmed and graphically portrayed. Is there some reason that 30th Street and Lynwood Avenue are being ignored in this circulation system analysis? This is the major east-west street between Highland and 40th and it carries a substantial volume of traffic that is likely to increase substantially as a result of completing the Route 30 Freeway. At the bottom of the page and carrying onto the next page, I believe that Highland Avenue is 4 lanes to City Creek Road. Please confirm this statement in the EIR. In the 5th Street discussion, the statement that 5th is four lanes east of Victoria is not correct. It is configured as two lanes with perhaps enough width for four lanes. This statement needs to be corrected. In the first line on the page the word "venue" should read "Avenue". In the Rialto Avenue discussion where does the 10,000 ADT occur, along the whole road or at specific locations along the road. The next to last sentence in the paragraph that comes onto this page, makes a conclusion regarding the functional capacity of the existing circulation system that has not been supported in the text to this point. At a minimum Table 12 should be cited and the information contained in it discussed and related to suitability of the existing system. The reasons for judging the system to be consistent with the intended uses of the system. Two word corrections are also needed: in the eighth line on the page the second word "area" should read "are", and in the ninth line the word "he" should read "the". The adequacy of the system is referenced only to the downtown traffic situation. Several other areas should also have been considered, including the following: the Commercenter area, particularly Waterman and Hospitality 12 1\ 11-1.- \~3 l-:rt \T'S' 11-& \ 11- :w Page 4-81: Page 4-93: Page 4-95: Page 4-95: Page 4-97: Page 4-97: ~ e <) Lane intersection, Waterman and Baseline and Highland, and Interstate 10 \-: near Inland Center Drive. These data and evaluations need to be added to the Final EIR. In the fifth sentence of the first paragraph that starts on the page, something was left out of the text. What level is it that is considered ultimately acceptable street capacity criteria? It appears to be LOS F. Please COrrect and revise subsequent text as appropriate after confering with the City Engineering Department. In paragraph a. the statement is made that Highland Avenue is a two-lane road along a portion of its length. This is incorrect. Highland is a four lane road all the way to City Creek Road. Thus, the whole evaluation and conclusion in this section is incorrect and may require revision in Table 12 and Figure 8. These corrections must be made in the Final Em. The source of information for the conclusions regarding ridership percentages needs to be referenced in this document. Some analysis of why the system does not operate with the same type of peaked ridership would be appropriate. In the last paragraph Table 13 is discussed. This discussion needs to be expanded to address how the trip end data were generated and their level of accuracy. Table 13 has several contradictions that need to be explained. Specifically, the increased number of trips for housing occurs at a lower percent for new housing based on the percentage increase of new housing units. Why does this occur? Similar disparities exist between the number of trips related to existing commercial and industrial areas and the number of trips projected for future industrial and commercial square footage. Since these projections form the basis for the whole impact projection, they must be carefully documented and this information is not provided or referenced in the EIR. In the second paragraph that begins on this page, it is not explained how the CaItrans trip data relates to and is integrated with the DKS predictions. No quantification or discussion is provided and this information is important to understanding both current and future traffic patterns. The third paragraph that begins on this page contains a major hidden assumption that removes the reader from the process of how and why roads are given a different classification from the present. The reason for this is in second sentence which, in essence, states that the traffic evaluation is based on the proposed cir~lation system. Thus, the impacts being presented are after mitigation, i.e. assumes that the roads have been reconfigured or constructed to meet the designations in the Draft Plan. This is in contrast to other environmental issues which are compared to the existing systems. What 13 -:r{ CD \ 8/ - 6:l 83 6~- II. t. Page 4-97: Page 4-98: Page 4-103: Page 4-103: Page 4-105: o o this analysis does not tell the reader is when a particular road will exceed its current capacity (LOS E based on the criteria in the Plan) under the Plan and will need to be expanded to meet the ultimate traffic flow. In the end the information not included reduces the value of the circulation system analysis from an infrastructure planning standpoint. The more fundamental problem from an analytic sUmdpoint is that if the new roads that were used to calculate impacts are not constructed (due to lack of funding or other problems), then the level of impact projected will be much worse and the time it will occur will not be known. The net result is that, since construction to meet the new classifications cannot be guaranteed, the Em is not presenting the reader with adequate information to achieve full disclosure. Based on the conclusions presented in the final paragraph on this page, development under the proposed Plan, even after including all of the proposed roads at their new classification in the Plan, will have significant adverse impacts on portions of the City's system. Thus, it is important for the EIR to discuss the implications of not constructing these facilities. I base this on my general understanding that the majority of the roads already exist and much of the land surrounding them is fully developed. Therefore, an understanding of how roads are going to be funded and constructed to their new classification level is essential or the impacts will be much more severe than forecasted, as outlined above. Amechanism to assure road construction funds must be provided or the current analysis will be inadequate as discussed above. There is no discussion of the physical impact on the existing environment from constructing the roads to the new classifications in this table. Thus, it could be necessary to disturb some significant habitat, archaeological resources, or, more likely, to disrupt existing property and existing manmade uses due to taking portions of adjoining developed property along certain roads. This impact has been ignored and should be addressed in the Final EIR. Figure 9 is misleading because is focuses only on those locations that will be "most significantly impacted by buildout of the Draft Plan." As shown in Table 15 it is clear that many other intersections throughout the City will exceed the criteria of significance used in this document. Therefore, either an additional graphic or a modified version of the same graphic should be included in the Final Em. Specific policies to accomplish traffic mitigation are not identified in the text of the first full paragraph on this page. These should be identified in the Final EIR. The discussion in the second full paragraph on the page regarding infeasibility of constructing roadway segments to provide a LOS "C" is not clarified in the text. Is the reason for infeasibility based on planning system limitations (Le. 14 M- 0~ rlll 61- \ BB \61 I.... Page 4-106: Page 4-106: Page 4-107: Page 4.108: Page 4-108: Page 4-109: o o funding) or on absolute limitations such as lack of road width along certain \ right-of-ways or other similar situations? Perhaps one of the best examples S I is how will freeway traffic flows be mitigated below a significant level? Please clarify in the Final EIR. o In the first paragraph under mitigation measures, the impacts of implementing the roadway classification upgrades have not been evaluated in the text of the Em. The consequences of local parking removal, widening of streets, driveway closures (in terms of access to individual parcels) were not discussed in the text. Because of the large number of roadway upgrades, a specific discussion on each would probably be inappropriate but a general discussion based on categories of impacts could be provided and should be provided in the Final Em. In the bottom paragraph who will be "required" to implement circulation improvements? Many of the classification upgrades occurs on roads where development has already occurred and most new development will not directly impact these roads. Some mechanism for funding must be identified that has some reasonable chance of being implemented by the City and this has not been identified in the EIR. It is not clear that the policies discussed on this and the next page are in the General Plan or are new mitigation measures. Each policy cited in this section should be correlated with General Plan policies by providing the policy number as was done in referencing policies 6.1.11 and 6.1.14. In the third paragraph on page 108, will new development generate adequate funds to .construct proposed roadway improvements? Has an estimate been prepared for upgrading all the roads identified in the Plan and discussed in the EIR? Has a similar estimate been prepared for the amount of funding that can be anticipated from the development forecasted in the Plan and EIR? Do they match or will there be a shortfall? Without answering these questions it will not be possible to evaluate the potential success of proposed mitigation. These figures need to be included in the Final Em. In the last paragraph on this page and the top of the next page, what is the basis for establishing 100 trips/day (see page 110) as the criterion for preparation of a traffic impact study? My concern is that this will result in a large number of traffic studies that will not identify any significant impact on the circulation system because 100 trips/day have a very low potential to impact the system. Please provide the justification for this criterion. IT it was arbitrarily selected by the City just say so. In the first paragraph fully on the page it appears that secondary access could be avoided based on some undefined feasibility finding. Should the City allow any projects to be constructed without secondary access? There is a long term potential impact to developments not served by secondary access 15 qa q\ \q~ q3 q4 q~ 11..9 Page 4-109: Page 4-111: Page 4-111: Page 4-112 Page 4-113 Page 4-113 Page 4-113 Page 4-116 o o that has not been addressed in the EIR. It should be discussed as a consequence of the proposed mitigation measures. In the fifth paragraph the term "pursue" does not provide real mitigation and the verb should be revised to be mandatory or any mitigation attributable to this measure must be discounted. The Transportation Management Demand Systems mitigation discussed at the top of the page is not mandatory and therefore cannot be counted as firm mitigation. This is an essential program that needs to be better defined and made mandatory in the Final ElR. In the first paragraph fully on the page the comment is made that the only way of ensuring LOS "C' would be to substantially downsize tho development allowed by the General Plan. Is this a valid statement? What prevents the City from expanding the funding and solving traffic problems with engineering solutions? This issue needs to be clarified in the Final EIR. The last sentence in this paragraph is a rationalization and rmding that should not be in the EIR and should be included in the ultimate statement of overriding considerations and findings. The following issues were not discussed in the EIR: existing traffic hazards that need to be corrected; new traffic hazards that may be created by the proposed system upgrades or the new General Plan land use designations; and impacts of proposed mitigation measures. Each of these issues should have been addressed in the Draft EIR and need to be addressed in the Final EIR. In the list of water purveyors at least two of the water company boundaries (South San Bernardino and Muscoy Mutual) are not shown. They should be added to Figure 10. In the second paragraph on the page, a quantative analysis is needed to derme what current daily water demand is; what constitutes "adequate" storage for the water system; and an assessment of ability of the system to meet fire flow requirements throughout the system's extent. Is the production capacity (52,300 gpm) peak flow, average flow or what? This issue, as well as the other quantitative information, needs to be added to the Final EIR. In the final paragraph on the page it is not clear whether treated stream water is a "supplemental" or normal source of supply. Please indicate which streams are currently used; the volume of surface water currently used annually; and the potential volume of surface water available to water purveyors. The concern is to define potential surface water sources and define potential impacts resulting from expanded use of the surface water. In the second paragraph the information deficiencies regarding the East Valley are the same as for the City's water system. The same data needs to 16 \q.{ \q~ \ q1- q& qq \ IDO ID \ \ IO~ \ lOr? . . ..... Page 4-116 Page 4-116 Page 4-117 Page 4-117 Page 4-117 Page 4-117 o o be provided in the Final ElR. 110:' In the third sentence which agency supplies the other half of South San \ Bernardino's water. A broader discussion of the capability of this limited IDt system to meet its water supply requirements needs to be provided. . In the bottom paragraph that carries over to the next page, similar information is needed for the Muscoy system. It needs to be included in the IL Final EIR. As in the instances above, the information is essential to U-' calculating adverse impact and allowing an independent evaluation of "adequacy". In the second full paragraph on this page the discussion presents 80,000 acre feet as the available water supply. The problem is that no context is provided. Is this the water rights that they collectively own or actual production capacity? Will new wells and surface water supplies have to be developed to provide this volume of water? Is part of this supply dependent upon State I D(P Project Water and can these supplies be guaranteed? Can the 123,000 acre feet of available supply be utilized without adverse impacts aquifers and streams and on other water supply agencies in the region? All of these factors are pertinent to understanding the potential environmental impacts from expanding the water supply system to meet future growth. This information needs to be included in the Final EIR. The discussion in the bottom paragraph on this page focuses on data contained in Table 17. The numbers in this table are inconsistent with forecasted increases in industrial and commercial square footage and residential units. For example, industrial growth will result in approximately 10 times the square footage of industrial space at full development compared to the present (see Table 16). Yet the increased water consumption will be I ^ "Y only slightly more than twice the volume of water. This is a major disparity u -\ in comparable numbers and can only be justified with an extensive explanation as to why water consumption not only will not but can not increase in proportion to the increase in square footage (i.e. about 10 times current water consumption of 1,440 acre feet per year or 14,400 acre feet compacted to the forecasted 2,913 acre feet). The same problem exists with both the commercial and residential water consumption forecasts, but to a smaller degree. All three values need to be corrected or the rationale for them established. A simple compilation of water consumption in the fmal paragraph on the page I D.:D does not address the adequacy of supplies throughout the water system, including storage, adequacy of fire flow and other water system parameters. This information needs to be added to the Final EIR. It is incorrect to compare the 59,000 acre feet value with the 80,000 acre feet \ 101\ value in the final paragraph on the page. The correct value to compare with 17 I~ Page 4-120 Page 4-120 Page 4-120 Page 4-122 Page 4-122 o o 59,000 acre feet would be 123,000 acre feet which is cited as the total I N1 available water supply. The comparable value for 80,000 acre feet would be v \ the 16,000 acre feet value for actual increase from present consumption levels. This evaluation in the top paragraph on this page does not discuss the future service areas thai will require new water system infrastructure and the potential adverse impacts from installing the required pipelines, reservoirs, etc.. An evaluation of the potential sensitivity of the areas where new water system facilities are most likely to be required should be provided in the Final EIR. The analysis in the second paragraph is too generic and does not indicate whether the installation of new facilities has the potential for significant adverse impact. There is no basis for concluding that developing these facilities will not be significant. 110 The discussion of policies in the top paragraph does not provide any basis for determining whether or not the water system can be expanded at a rate commensurate with demand created by increased growth. This relationship between increasing demand and an adequate water supply system requires further elaboration to demonstrate that no significant adverse impacts can actually occur. In the cumulative impact section no analysis or conclusion regarding impact is presented. First, in reference to Table 19, it has the same problems as Table 17 because the forecasted water consumption figures do not correlate with water consumption from the number of existing residential units and industrial and commercial square footage. Second, no data are presented on the total available water supply for RSA-29 and no comparison is made between the forecasted 153,000 acre feet of consumption per year and that which may ultimately be available. These values will need to be corrected in the Final EIR. III II '2.. In the second paragraph on the page, the statement implies that mitigation can be achieved when future water system facilities are developed. There is no foundation for this conclusion and it is probably invalid since much of the new water system requirement are likely to be needed in the Verdemont area where many of the more sensitive biological resources are located. Either revise this conclusion or provide justification in the Final EIR. Under the level of significance determination, the conclusion is not supported by the data available. The analysis is too superficial to draw this conclusion and additional data will be needed to justify it. Further, this conclusion ignores other water system impacts such as ability to provide fire flow and meet water storage requirements in each pressure zone in the City and within the sphere of influence area (particularly South San Bernardino's service area); the potential impacts of expanding the water system at the same rate as growth; and the impacts from installing water system facilities in the future to meet the projected demand. These issues need resolution in the Final EIR. 1/3 04- 18 I ~I Page 4-123 Page 4-123 Page 4-123 Page 4-124 Page 4-124 Page 4-124 o o In the second paragraph on this page data on the remaining capacities and \ I service lives of each of the existing disposal sites needs to be included at this I'::> point of the discussion. . In the third paragi-aph reference is made to incineration of waste as one of the options that will be utilized to manage solid waste (at a minimum). The basis for this statement is not cited and recent experience in the Valley (the II & Milliken waste-to-energy project in Ontario) would conflict with including it in this list. This needs resolution in the Final EIR and it should probably be deleted. Last sentence on the page. How much of the 1.15 million pounds of waste was delivered to disposal sites for disposal and what percentage was recycled? II "'l.. It is necessary to convert the 1.15 million pounds of waste into cubic feet or 1 yards in order to obtain some estimate of the percentage of waste disposal capacity currently being consumed by the City. These changes need to be incorporated into the Final EIR. The 256% increase in waste generation discussed in the first paragraph on the page needs to be expressed in volume as well as tonnage. To forecast II B secondary impacts of waste collection the increased number of collection trucks and additional miles per day needs to be defined to illustrate the Plan's contribution that waste disposal will make to air pollution emissions in the Basin. In paragraph one it is stated that both the City and other haulers will be able to provide adequate solid waste collection services. Although not a major issue, this statement is indicative of the document's lack of accountability. II a These statements must be given citation to someone who has authority and \ knowledge to make such statement. The ability to provide adequate capacity is not self-evident. It will require expansion of routes, an increase in the serving fleet, and perhaps the establishment of curbside recycling operations. None of these issues is addressed and they need to be addressed in the Final EIR. The second paragraph is ruled with statements that are wholly unsupported in the text. First, it is clear that new disposal capacity will (not "could") be essential to meet future disposal requirements. This conclusion is based on recent desperate efforts on the part of San Bernardino County to find a short cut to siting new solid waste management facilities. Second, there is no I '2D analysis of capacity of existing landfills, analysis of the capacity required over the life of the Plan, analysis of the volume of waste that will be contributed by the City to facilities and the amount of shortfall that will occur in waste disposal capacity in the San Bernardino Valley. There are no current guarantees that additional capacity will be on line to meet increased disposal demands due to future growth in the area, let alone the City. This whole 19 1'2.' Page 4-125 Page 4-125 Page 4-125 Page 4-126 Page 4-127 o o analysis as well as the cumulative analysis in the next paragraph (which contains no quantification for RSA-29) will need reevaluation and additional data before it can be made adequate. Given the status of waste disposal 120 siting at this time, I would have identified this issue as a potentially significant impact that will need major resource commitments to be resolved during the planning period. . In the mitigation section the conclusion in the first paragraph is not supported by any substantive analysis. At a minimum the increased number of collection trucks will increase air emissions, traffic, and noise throughout the planning 12.\ area, but particularly at disposal sites. The proposed mitigation does not achieve any mitigation of solid waste disposal site impacts. New or expanded landfills may have unavoidable significant adverse environmental impacts and part of this impact will be attributable to the City's contribution of solid waste. Lack of adequate capacity to meet waste generated could cause significant impacts until new landfills or other solid waste management facilities are in place. These issues need to be resolved in the Final EIR. The level of significance discussion is not substantiated by real data and it is (122- highly probable that, at least in the short term, the impact of increased waste disposal should be considered significant. The conclusion in the unavoidable adverse impact discussion contradicts the 12.3 conclusion in the level of significance discussion. The conclusion in this section is probably more accurate and should be extended to previous discussions for validation and incorporation. The analysis of sewage disposal on this page does not provide all of the data necessary to understand the existing conditions. The treatment plant is not operating properly at all times and for a variety of reasons the plant is under a Regional Board dictate to increase its tertiary treatment capability. Are there problems with the system during peak flow periods, for example is there adequate storage to prevent uncontrolled release of sewage? These problems 12- t have been ignored in the text and they must be added. Newspaper reports are constantly referring to limitations on connections to the system by new projects outside the City limits. The whole context of current operations and operation problems needs to be provided in this section; otherwise the public and decision-makers will not be accurately informed about the current operational status of the system, including its deficiencies. The ultimate adequacy of tertiary treatment capacity discussed on this page, in conjunction with the secondary treatment capacity (which is approximately three times larger) needs to be addressed in the context of recent Board orders. At the top of the page, are there any areas of concern due to continued use \ of septic tanks? No data are provided regarding their adequacy of functioning. Also, there is no discussion of current pretreatment requirements within the City for industrial discharges or the volume and manner in which I~ 20 ...." Page 4-128 Page 4-129 Page 4-129 Page 4-130 Page 4-132 o o sewage sludge is currently managed. How is the sludge currently disposed of? Has it been analyzed and its contents evaluated in light of current regulations regarding content of sludge, particularly for heavy metals and possible \ ']; ) hazardous waste designation? No data on the City treatment plant's compliance with waste discharge requirements is presented. How can it be determined whether the existing operations are nonsignificant without such data? Each of these issues must be evaluated in the Final EIR. Based on the discussion at the top of the page, is there some reason for concluding the sewer plant will be able to operate without the adverse odor and other impacts that currently exist? Will the expanded operations meet with expected Regional Board waste discharge requirements? The analysis contains no discussion of sludge, industrial.pretreatment requirements (even though industrial square footage will be increased ten-fold), odors, or potential health impacts of future operations. Finally, no assessment of potential adverse impact of future construction of sewer lines and expanded facilities is provided. The impacts from expanding the plant are listed, but no potential impact evaluation is provided. Since the plant is located adjacent to a riparian habitat the potential for adverse impact is significant and should have been provided with a general evaluation. The second and third paragraphs raise more questions than they answer. Does the City have a history of complying with discharge requirements? Regardless, are there policies in the Plan that make compliance a high priority for the City? Is there some basis for concluding that future mitigation can be effective enough to reduce potentially significant adverse secondary impacts below a significant level? No foundation is established for such a conclusion. These questions must be addressed in the Final EIR. The accuracy of the level of significance conclusion in the text is questionable without further data on questions and inadequate data raised in the above text. The same comment applies to the unavoidable adverse impact section. At a minimum increased sewage sludge generation and disposal will be required and the additional salts delivered to the basin's aquifers. These may not be significant from a water quality standpoint, but these impacts will be unavoidable. In the first paragraph, last sentence tbe word "are" should read "area". In the second paragraph reference is made to 4,300,000 gallons of hot water produced per day. How is this water presently disposed of? No information is presented on this topic and depending upon what is done with this water, the impact could be significant (i.e. a net loss to the areas ground water aquifer or an impact to surface water resources. In the same paragraph, no discussion is provided on how the geothermal water is used; how much is available in the reservoir; and whether the water contains concentrations of chemicals or noncondensible gases that pose any problems. Finally, if the hot 21 /'2& \'2..1' [2f> \ l2-q 130 , J"l Page 4-132 Page 4-133 Page 4-134 Page 4-134 Page 4-135 Page 4-135 Page 4-136 Page 4-137 Page 4-137 o o water is degraded and then returned to the reservoir is this causing any 130 change in the hot water reservoir temperature? This information needs to be provided in the Final EIR text. In the project im~act section there is no analysis of whether the increase in electricity consumption will have adverse Impacts. Is there sufficient power within the current system to meet this need? H not, will new power plants be constructed? H so, this poses the potential for indirect, signiflcant adverse Impacts from siting new power plants and from their emissions. The first paragraph ignores potential adverse Impacts and any analysis supporting such impacts. H there are benefits that should be quantified in terms of reduced energy consumption for heating at those locations where geothermal energy are used. For each of the issues identified on the previous page (water quality, degradation of the reservoir, loss of water from the basin's aquifers, etc.) some information needs to be provided and conclusions drawn for each potential adverse Impact. In the third paragraph the citation to the South Coast AQMP is literally correct, but does not address the fact that the 20% figure is basin wide and not necessarily in the local area. Also, why was this issue even addressed in this section since it has not occurred and no discussion is provided on current telecommunication capabilities or operations in the planning area. The conclusions in paragraph four on this page are not supported with references to sources of information. Can the service be provided without expanding the existing system's facilities? This information needs to be included in the Final EIR. The cumulative Impact section contains no analysis or conclusions. This needs to be corrected in the Final EIR. In the mitigation section no mitigation is accomplished when should statements are used. H the City supports telecommuting, it needs to incorporate a program for workers under its jurisdiction. The level of significance finding is probably valid, but is not supported with data. The unavoidable adverse impact section does not address the potential loss of habitat associated with constructing new facilities. This needs to be corrected in the Final EIR. In paragraph two on this page the same data contained in the first paragraph for the City Police Department needs to be provided for the Sheriffs Department. In the third paragraph 1.7 officers per 1,000 residents is stated as being nationally acceptable. This conclusion needs to be supported with a reference 22 I~\ l~~ I?~ \ l'?t [I~ \ j'?/ lp \ 1'Q1 (I ~t) tl3q . ..u: Page 4-139 Page 4-139 Page 4-139 Page 4-140 o o and more data stating what the acceptable level (range) actually is. What is the average response time within the City for different types of calls (felonies, traffic accidents, etc.). Is the current officer/population ratio acceptable to the Police Department? What is the current number of responses in the City daily and annually and can this be broken down into residential, commercial and industrial crimes per residential unit and commercial and industrial square footage? Are there specific high crime areas where special attention is required? All of these factors playa role in evaluating adverse impacts to law enforcement services from future growth. Without these data it is not possible to provide any future quantative assessment of police service demand based on the mix of future growth. In paragraph the population expansion is actually 80%, not 33% as stated. This is based on a current population of about 140,000 and an ultimate population of 260,000 which is a 120,000 increase or 80% of the current population. The remainder of the analysis in this section does not contain the data needed to make a conclusion regarding potential for significant adverse impact. First, will new areas to be served impact response time and will new \ lip., - community offices be required? Second, no quantitative data on number of '1'V responses projected into the future is provided and no data are included which address response times. Does the Plan create, expand or continue any high police service demand uses? Does the land use mix alter the demand for future police services? Is the City satisfied with maintenance of the 1.7 officer/population ratio? H the ratio is not maintained does this result in a conclusion that the Plan or future individual projects cause a significant adverse impact on police services? Many major analytic issues have not been addressed that need to be addressed in this section of the document. 13q The cumulative impact analysis suffers from the same deficiencies as the \ project impact section, except the data needed is on the ability of the Sheriff's \ 4\ Department to provide services. Specific policies that will mitigate potential adverse impacts to police services need to be identified. Of great importance, if these policies do not mandate maintaining the 1.7 officer/population ratio, then there is no assurance that III '2- the adverse impacts to the Department can be fully mitigated. This is a "f critical issue because general statements of commitment, not actual commitment, to this ratio can not be used to ensure adequate mitigation. Finally, in the mitigation section which carries on to the next page, the items identified as contributing to mitigation (coordinating private security, neighborhood watches, etc.) need to be supported with data to demonstrate that they are effective in accomplishing the cited mitigation. Both the level of significance and unavoidable adverse impact sections need \ (4;3 to be revised in light of the above comments and the actual mandatory quality of the mitigation measures. 23 ."'11 Page 4-141 Page 4-141 Page 4-144 Page 4-144 Page 4-144 o o In the second paragraph on the page at the end of the second sentence insert \ 1* "(Figure 13)" because it also shows the locations of CDF and .cvFD fire stations. In the third paragraph on this page is the average response time of 3 minutes a goal or criteria for mell$uring adequate response time to fire or paramedic emergencies? Also, as in the case of police services, it is appropriate to l A ,/ establish some quantification to be used in forecasting future Plan buildout "f"? demand for such services. . The total number of responses (average per day or annually) should be presented and the number of responses tied at a minimum to population. The best data would be the number of responses for different types of land use, such as residential, commercial and industrial. Thus, based on current acreage of each use, such quantitative data could be used to predict the impact of future growth. In the first paragraph on the page, the following issues were not addressed in the existing conditions section and should have been: 1) a discussion of paramedic services and emergency response capabilities is needed; 2) are I AI- there other fire hazards in the community beyond the wildland fire hazards "IV' adjacent to the foothills that need to be characterized in this section; and 3) the discussion focuses on a "Greenbelt" Program which has not been adopted by the City and the focus should have been on what programs the City has in place, not the "Greenbelt" Program. These issues need to be addressed and included in the Final EIR. In the project impact section the second sentence identifies a "probable increase in fire service response times" as a result of Plan buildout. This general conclusion should have been quantified as outlined above. The discussion presents no data on the nature of future demand in terms of the number of expected responses based upon the Plan land use mix. Are new ^ 1- responses likely to increase with the absolute increase in population or based t "'r on the types of uses and their locations? These issues need assessment and conclusions where none are presently provided. No assessment of increased fire hazard potential is provided in conjunction with the statement that hazards will increase. Is this impact significant, and if so, based on what? Finally no assessment of paramedic/emergency response needs in the future is provided and there is no discussion of potential special fire hazards associated with industrial or commercial growth in the future. All of the above information needs to be included in the Final EIR. In the cumulative impact discussion, first sentence, the increased housing in Hillside Management Areas "have the potential to" impact CDF and CVFD \ No service capabilities. The word "will" should be deleted. In the text of this paragraph that carries onto the next page there is no characterization of fire and emergency services provided in RSA.29. The analysis is inadequate and not comparable to previous cumulative impact evaluations. This needs to be 24 ._~ Page 4-145. Page 4-146 Page 4-146 Page 4-148 Page 4-148 Page 4-148 Page 4-150 Page 4-150 o o corrected in the Final EIR. Is the "high fire hazard line" presented in Figure 14 the one that is contained in the "Greenbelt" Program map? Why does it not coincide with Area B on the figure? This ~ssue needs to be clarified and the implications explained. In the mitigation discussion the specific policies and programs in the Plan need to be identified. It is not clear that the mitigation proposed or that can be achieved through the policies, and programs will actually accomplish the requisite mitigation to assure that fire service impacts are reduced below a significant level based on the proposed Plan. Unless implementation is ensured in the policies, the mitigation cannot be considered to be fully effective and the Plan impacts may remain significantly adverse. The conclusion in the level of significance section is not supported in the text I of the Draft EIR and must be verified or revised in the Final EIR. No data \ on emergency responses are provided. \ In the last sentence of the first paragraph on this page higher education in what "area" is available at Cat State and SBVC? Is this a reference to the planning area or the region? Because if it is the region then the University of Redlands and UCR need to be included. This needs clarification. In the second paragraph several school districts are discussed and it is not clear what their locational relationship is. A map of district boundaries needs to be provided and should include the Redlands School District boundaries on the City's east boundaries because concerns have been expressed about student allocation in this area. In the bottom paragraph on the page no discussion is provided on the number of year-round schools in the District and the number of new schools that will be constructed and operated. Is it valid to expect these openings based on the current funding constraints. This issue is not addressed and needs to be. The discussion that comes onto the page does not address student/teacher ratios currently in place or whether the District has criteria for determining whether the existing school system is significantly impacted by the current circumstances. What are District criteria for determining significant adverse impact to it education system? Are certain schools more adversely impacted than others? These questions need answers before the existing conditions section can be considered complete. The project impact section does not present any analysis of the consequences of the potential student increase within the District on the District's education system. How many new schools or classrooms will be needed over the life of the Plan? What districts will be most impacted and do the district master plans contain sufficient awareness of the size and scope of the population 25 1L\fJ )LA l60 l~\ It; 2... \ 1'_..; \>St 1~6 [6& .-- Page 4-153 Page 4-154 Page 4-154 Page 4-154 Page 4-154 o o increase and adequate funding sources to meet this increase? Substantial additional information needs to be provided in this section before a conclusion can be drawn regarding potential significance of Plan impacts on the education system. Based on the d~scussion in the first paragraph, the TBR should be incorporated by reference into the EIR on pages 1-5 of this document. It is not adequate to reference the table and figure in the TBR when the data is essential to understanding the current setting and forecasting the future impacts to the parks and recreation system. Finally, the joint use areas with the local school district also need to be identified. In the frrst paragraph the statements about offsetting park acreage by regional parks, national forest land and school sites is gratuitous. First, the three regional parks that can meet the City's needs are not specified, but in general they are not easily accessible to much of the population. Second, there are separate standards for regional park acreage that are in excess of local park acreage requirements. Refer to the San Bernardino County Regional Parks Strategic Master Plan. Second, most school facilities are not open and available much of the time. To discuss school play areas as offsets for park needs requires those school areas that are available to be specified. Finally, the National Forest lands are not readily accessible even when open, but more importantly, they are closed due to fire hazards much of the year. A more realistic evaluation of park and recreation resources is needed in the Final EIR. The project impact section does not provide any analysis of potential adverse impacts to the parks system. No assessment is made of how the Land Use Element Map designations mayor may not impact future park site selections. How are areas going to be set aside? There is no analysis of the Plan's policies on ensuring that adequate park land is created on a time schedule comparable with the growth in population and recreational demand. Also, no evaluation of social services associated with the Parks Department is provided in this section. The cumulative impact section does not provide any analysis of potential impact within the RSA-29 area and no data are presented on the existing park acreage available within the region. These data need to be included in the Final EIR. No social service evaluation is provided in this section of the EIR. In the last paragraph the specific mitigation policies and programs are not identified. By deferring the park master plan and acquisition of park land to a future study, the General Plan does not provide any concrete mitigation. Thus, there is no guarantee that the park acreage criterion can be met. Do the policies contain mitigation policies and programs for specific mitigation of future social service impacts? 26 !6(P ItSi' \4J \6C\ \ I&D \ 1&1 I,q il Page 4-155 Page 4-157 Page 4-158 Page 4-161 Page 4-162 Page 4-162 Page 4-163 o o The conclusion in the mitigation section that no further mitigation is required is not supported in the text of the EIR. Further information needs to be incorporated in this section and analyzed before a final conclusion regarding significance of impacts can be reached. The same comments apply to the level of significance and the unavoidable adverse impact sections of the Draft EIR. ' l(Y The list of habitats that may occur is a laundry list. It may be appropriate to include them in a list, but the actua1habitats within the City need to be shown in the map referenced above. In addition, the acreage of each habitat found in the planning area also needs to be compiled in a table. In the "plants" section an explanation of what the data represents is needed. It is assumed that these are plants that may be located within the planning area. A map showing their distribution should be provided or referenced. A copy of a map showing the natural diversity data base references is attached for comparison. This map is from another general plan EIR and can be used as an example. How much sensitive habitat occurs within the planning area and where? This information is essential if the potential conflict between proposed uses and sensitive habitat an species is going to be provided. Based on review, every parcel in the City has some development designation (no pure open space designations) that can result in direct loss of habitat. In the first paragraph discussion of this issue the analysis is too general because it does not quantify the amount of habitat that will be lost by development under the proposed Plan. Several secondary issues are discussed, but no assessment of the habitat losses themselves is provided in the text. Another important issue nof addressed are existing approvals in sensitive habitat areas that will be allowed to proceed without adequate mitigation when the proposed Plan is adopted. Some assessment of the amount of acreage and the area of impact needs to be provided for this potential adverse impact. In the first full paragraph on this page, the conclusion is presented that \ I (ptp impacts will occur but there is no analysis to determine whether the potential impact is significant or not. I(/~ I((A~ / \ ' The policies and programs discussed in the second paragraph need to be ::r identified. Note that the policies discussed in the abstract do not accomplish I (P mitigation, they simply provide a data base and establish a mechanism for ensuring that biological data is studied by committees. In the subparagraph at the top of the page, the proposed mitigation provides \ no assurances of protection based on the language presented. Aside from designating areas for open space habitat preservation in the Plan (which has not been done), there is very little that can be done to halt conversion of lands with federally endangered plant species. [GO 27 lor Page 4-163 Page 4-163 Page 4-163 Page 4-164 Page 4-164 Page 4-164 o o The policies and programs that protect sensitive biological elements need to be identified. If they only attempt to protect these elements, then they can not be considered effective mitigation. In the second sentence in the first full paragraph on this page, the statement that federal species are unprotected on private land is invalid. For animals only, Section 10 of the Federal Endangered Species Act requires the acquisition of a taking permit and adequate mitigation to offset losses of individuals or habitat. The same requirement does not occur for plants. This section should be changed. In the final two sentences of this paragraph it is necessary to identify the specific measures of protection offered to sensitive species that is not presently available through CEQA and .the Cty's mandate to implement CEQA Overall the impact section does not provide any evaluation of the direct consequences of the land use designations contained in the Land Use Element Map or the policies, such as policies that support mining in areas where the most sensitive habitats within the Cty are located. Additional analysis will be necessary to address these issues. The discussion in the cumulative impact section does not provide any conclusions regarding significance or the additional habitat(s) that may be lost within RSA-29. This section needs substantial expansion and an evaluation that addresses the potential biological resources that may be lost. In the bottom paragraph, the statement is made that "impacts to biological resources may occur." This severely understates the impact because throughout the document it has been assumed that the planning area would fully develop out in the designations on the Land Use Elem~nt map. Thus, the impacts will occur, not "may" occur. Specific policies and programs need to be identified. In the first full paragraph on the page it is not clear whether the overlay requirements prevent development on parcels with sensitive biological resources or in what manner such resources are protected. It is contradictory to imply that buildout can occur while "protecting" biological resources. This issue requires substantial detail to illustrate how this can and will be accomplished. In the second paragraph a major problem is raised, discussed and left without any resolution because no additional mitigation is required to resolve the issue. The logical mitigation is that within each sensitive area (which needs to be mapped in this General Plan from the existing natural diversity data base) a biological resource study will be required for each parcel that is wholly or partially undisturbed, prior to finalizing the Initial Study. Referencing an incomplete study is inadequate to address this problem. In the bottom paragraph, an assessment without a firm commitment (policies or other means) to prevent impacts by rejecting the use or requiring compensatory mitigation to be determined by qualified biologists does not 28 v.o'\ \ \1'0 11'\ \1'2 11':; \ 114 - _. Page 4-165 Page 4-165 Page 4-167 Page 4-171 Page 4-175 Page 4-175 o o provide mitigation and it is misleading to imply that it does. The level of significance discussion and conclusion are wholly unsupported based on the data and analysis presented in the Draft Em. Actual mitigation is not guaranteed ,and it is highly probable that substantial losses of sensitive habitat and species will ensue under the proposed Plan. The unavoidable adverse impact section appears to contradict the previous paragraph. In essence, because the Plan facilitates conversion of land from undisturbed open space use, the loss of habitat within the planning area will be almost total. Actual mitigation cannot be achieved without sensitive biological resources receiving the highest priority (either in direct protection or compensatory preservation of habitat) where they occur. The Plan and its policies do not apparently accomplish this at this time, therefore, losses of sensitive biological resources will cause significant adverse impact. At the bottom of the first paragraph on this page the last sentence begins with a statement that ''Emissions" are monitored; actually, pollutant concentrations are monitored, not emissions. The text needs to be revised. Second, in the last sentence Table 22 is referenced. Note that the concentrations need to be confirmed because the concentrations in ppm are so high as to have very substantial adverse impacts. These values need to be confirmed. The discussion in the third paragraph ignores fugitive dust nuisance. The major problem from construction is not PM10 emissions, but fugitive dust that causes a nuisance on adjacent properties. The amount of small particle emissions from construction depends on the character of the soil and is short- term. On the other hand, aggregate operation emission are not short-term as characterized in the text and the nuisance and PM10 emissions should be considered long-term and continuous. The Final Em should be corrected to address these changes. The discussion in item #3 of Table 24 should be expanded to address the proposed General Plan in the context of the local control measures contained in the recently adopted AQMP. More than 10 measures are assigned to local jurisdictions for implementation and the Plan's conformance with and inclusion of these measures must be assessed in the Final Em. Item #7 in Table 24 addresses the potential of projects that may emit toxic or hazardous air pollutants and concludes that it is not applicable. Because of the substantial amount of industrial development included in the Plan, it is highly probable that some operations will emit limited quantities of toxic pollutants. The conclusion in this Table should be revised to acknowledge this potential and to address the issue in the text as requiring a case by case evaluation of potential with mitigation to be included in the project at that time in accordance with SCAQMD rules. 29 I r:r"r \ 1't:;' \1"0 \1-1--- \10 \ 11'\ \50 I g; Page 4-176 Page 4-178 Page 4-179 Page 4-179 Page 4-179 Page 4-181 Page 4-182 Page 4-182 o o The policies in the Plan that impact air quality need to be defined in the mitigation section. The analysis in this section should indicate whether the Land Use Element map carries out the policies that are designed to reduce air pollution. These policies need to be compared to the proposed South Coast AQMP control measures for local governments and the transportation and growth management goals of the SCAG plans. At the bottom of the page and extending onto the next page the specific measures that will be monitored in conjunction with SCAQMD need to be defined. Through this whole discussion insufficient specifics are presented to understand the degree of mitigation that may be accomplished by the Plan and its mitigation measures as embodied by the policies. This information needs to be provided in the Final EIR. What is the basis for the conclusion on this page. No foundation has been established for it. If development siIpilar to the proposed Plan was located in the west valley the commute distances could be reduced and total emissions might be substantially reduced. This conclusion needs to be rethought and either revised or substantiated in the Final EIR. In the first paragraph, the mountain which dominates the east valley is Mount San Bernardino with Mount San Gorgonio as a background feature. In the second paragraph, what are the "broad arterial streets" in the City. Be specific. In the last line on the page what is "Sterling Avenue Canyon"? Please clarify or revise to fit a known landscape feature. In the third paragraph on this page it is unclear what is being discussed. Several foothill canyon zones have been developed in the past. Examples include development at the end of Victoria Avenue, on Holcomb Hill, and at the end of Del Rosa Avenue. SlI,bstantial disturbance has occurred in such areas and some severe scarring still impacts the area at the end of Victoria. In the first paragraph, water does not flow year round in the Santa Ana River through most of the City. Perennial flow occurs only downstream of the City's wastewater treatment plant which is located west of Waterman Avenue. Note that San Timoteo Creek is not in a natural river course, but is confined to an artificial channel that is not a notable visual feature. In the list of urban parkways a map is needed to highlight the locations being discussed in the text. It is questionable whether Third Street in the area discussed is a parkway and the location of Hallmark Parkway is not generally known. Perhaps a definition of "secondary urban parkways" would assist in determining whether the streets identified as such in the text at the bottom of the page actually serve such a role. 30 10\ \ ID~ 16'~ \ 164- ll~ II(jp 101 IBB .-.. Page 4-183 Page 4-183 Page 4-183 Page 4-184 Page 4-184 Page 4-185 Page 4-185 Page 4-186 Page 4-186 o o In the first line in the first paragraph on the page should the word "forum" read "form"? H so, make the change in the Final EIR. At the end of the paragraph, how does the grid road pattern vary to reflect the topography. It is not clear where this discussion is referring to and how the pattern changes to affect visual settings. This issue needs to be clarified in the Final EIR. In the second paragraph on this page the term "land extensive" uses needs to be defined. It is not clear from the context of the discussion what exactly is meant and how this affects the visual setting. liE \ I~O \q \ At the top of the page it is not clear how additional density will accomplish the enhancement of existing visual settings. Please elaborate to demonstrate that this will occur. This discussion and the next paragraph focus on the benefits of the Plan and not on the adverse impacts which should be the focus. What type of landscaping and amenities will be used in pedestrian oriented \ IW3 area discussed in the second full paragraph on the page. Are there adverse impacts, such as increased water consumption, that need to be addressed? !ctJ- In the first paragraph which City districts will be affected by increased mass, intensity and scale? Districts have not been discussed previously in a manner that allows the reader to understand where these impacts will occur. A map )(1'4 and definition of districts needs to be provided. Finally, there is no set of "\ conclusions regarding the significance or adverse nature of the impacts discussed in the first two paragraphs. Such conclusions need to be provided as part of the evaluation. In the third paragraph what is the basis for the conclusion that new development at higher elevations will be minor on insignificant. The potential for adverse impact appears high but it is dismissed with no analysis to support \q /' the conclusion. What are the important viewsheds identified in the Draft YJ General Plan and not presented in this section of the EIR. The last paragraph on the page appears to contradict the statement in the previous paragraph, but no conclusion regarding the significance of impact is presented. In the top paragraph is the change from predominantly rural visual character to suburban character a significant impact or not? No analysis or conclusion is presented on this topic and the locations where it will occur (outside of the Verdemont area are not defined). What is the basis of the conclusion that the Plan will not impact identified urban parkways? The impression from the text is that no changes will occur but this is not valid based on the discussion of changes in scale already 31 \ \q0 \ \Q1' , 0-' Page 4-186 Page 4-186 Page 4-187 Page 4-188 Page 4-189 Page 4-191 Page 4-193 o o presented. Please provide the rationale for this conclusion or revise in accordance with the new analysis. In the fourth paragraph it would be appropriate to explain how the pedestrian orientation will ill,crease visual quality. The problem with this whole section is that the conclusions may be valid, but no analysis is presented to support the conclusion. The reader is faced with conclusionary statements with no supporting data to reach an independent conclusion. In the last paragraph on the page it is necessary to be specific as to how the Plan will "provide" for the revitalization and upgrading of certain commercial strips. The specific programs need to be identified and assessed for their adverse impact as well as the foundation established as to why they will improve the visual setting of these areas. The catch-all discussion at the top of the page attempts to minimize the impact of loss of visual open space by citing development of public parklands and recreational areas. However, if these areas (which are yet to be defined) are already existing visual open spaces (as are many of the areas listed in the paragraph) then no net visual open space will be created. The actual impacts due to losses of open space should be quantified and characterized, probably in terms of large viewshed analysis. The discussion in this section is inadequate and needs substantial revision to reflect the real visual impacts that will occur when existing visual open space is lost. The analysis at the bottom of the page (which carries over onto the next page) does not address the degree of visual change that the planning area will experience, but instead focuses on the qualitative features of this change. It appears that the degree of change in the planning area's visual setting facilitated by the Plan will be significant and should be so stated. The level of environmental significance discussion ignores the loss of visual open space due to the Plan and the conclusion does not appear to coincide with conclusions presented in the unavoidable adverse impact discussion. The conclusions need to be revised after responding to the above comments. The analysis at the top of this page ignores the landscape scars that will result from mining, as amply illustrated by the existing pits throughout the region. What is adequate reclamation that can eliminate or ameliorate these visual scars? No analysis is presented of the loss of habitat from supporting continued mining. The point in this section should be to note that support for mining (which may be the City's goal) has some adverse environmental impacts that cannot be avoided. It is these adverse impacts from supporting mining that need to be discussed. The discussion in the first paragraph on the page does not define the areas and scope of land use conflicts between aggregate mining and adjacent land 32 I I q1- \ \qB \ ja,q ZJ6 291 \~2 '2.D~ ~'U)+ lOt:: Page 4-193 Page 4-195 Page 4-196 Page 4-198 Page 4-201 Page 4-201 Page 4-202 c o uses. The places where such conflicts can occur should be mapped and the type of impacts more specifically addressed. Areas where buffers have been established should be identified on a map. The degree of impact from 1J,DVr. fugitive dust and noise should be identified based on the current experiences with mining operation. These impacts are significant in some areas to the east of the City. . Again, in the cumulative impact section the adverse impacts need to be \ t:) addressed from protecting and supporting aggregate mining activities in RSA- ?-C 29 and these data are not presented with appropriate conclusions regarding adverse impact. The information needs to be included in the Final EIR. The level of significance and unavoidable adverse impact discussion contain no data to support their conclusions. As an example, support for mineral operations will cause the loss of identified sensitive habitat and substantial ').00 areas of scarred landscape that may not be reclaimable. These are clearly unavoidable adverse impacts that are not acknowledged in this section. In the first sentence of the second paragraph, the data seems adequate enough to eliminate the term "probably" when referring to the ability to generate ]..C1- large earthquakes. Also, in the next to last line of this paragraph the term "Whittier Elsinore" should read "Whittier-Elsinore". The last sentence of the first paragraph should be revised to indicate that l '2/'YJ the "determination" to be made is whether these areas are subject to ground surface rupture. The geology section does not discuss unique geologic resources in the area and does not adequately map areas of potential slope instability and erosion 2. oq potential. These geologic features should be added to the discussion, including a map of such features or hazards. Does the City have a seismic emergency response plan that can be activated and be effective during a major seismic event? In the third fourth paragraphs on the page the brief summary of impacts is too brief. There is no analysis regarding the potential significance of the hazards in relation to the development allowed (facilitated) by the Plan. Are developed areas subject to surface rupture impacts? Are there existing ?-IO structures in the community that are not designed to withstand the potential ground accelerations of future forecasted earthquakes? Given the level of ground shaking from maximum credible or probable earthquakes, what will happen to new structures being constructed under the Plan policies? All of these issues need to be addressed in the Final EIR. For areas with slope instability and high erosion potential, will the policies \ reduce potential adverse impacts below a significant level? There is ,?--\ I insufficient analysis to draw any conclusions from the text presented on these 33 .91. Page 4-203 Page 4.208 Page 4-208 Page 4-209 Page 4-209 Page 4-209 o o topics. \ ?-I \ The level of significance conclusions are not supported in the text and are \ contradicted by the conclusion presented in the unavoidable adverse impact :2-12- section. The disparity between these two sections needs to be resolved in the Final EIR. . Somewhere within the existing setting discussion each drainage basin needs to be shown on a map; the lOO-year flow (in cis) needs to be shown; and the capacity of the channels needs to be identified. This is a simple graphic that 2\ '3 will allow the reader to independently verify the conclusions presented in this section. At this time the reader must rely upon conclusionary statements with no supporting data. In the fourth paragraph on this page the conclusions are not correct. It is possible to assess the amount of increased runoff for each affected drainage basin by making general assumptions based on the amount of current ~l 4 undeveloped land and the land uses that will be allowed in the proposed Plan. - This type of analysis should already be available from the County Flood Control District or the Corps of Engineers because they must design their facilities for ultimate development. These calculations should be provided and compared with the capacity of the major drainage facilities within each basin. In the first three paragraphs on this page the uses permitted in known flood hazard areas are listed, but no analysis of the consequences of permitting ?-I c; these uses is provided. Such an analysis is- essential to evaluating the significance of allowing these uses to be identified for these areas. In the fourth paragraph on this page, one purpose of this Plan should be to identify the additional storm runoff capacity needed in new channels to ensure that flood hazards are not increased significantly by development allowed .hI / _ under the proposed Plan. These data have not been provided and therefore ..I- 1.0 the actual impact of the Plan can not be evaluated from the data provided. Further, if this data were provided, the potential for secondary impacts could be assessed because the areas requiring additional flood control facilities could be determined. This information needs to be included in the Final EIR. Insufficient analysis and conclusions are presented in the cumulative impact section to assess the actual cumulative adverse impact within the region. Reading the data presented in this section would lead one to conclude that 2.11- the adverse impacts will be significant. This section needs substantial expansion and revision. In particular the increased runoff impacts downstream of the planning area in the region must be addressed and have been ignored to this point. Page 4-210 The specific policies that accomplish the mitigation outlined on this page \ 21 B need to be identified so they can be independently substantiated. Also, the 34 IX~ The text in the existing setting section should be expanded to assess the current status of hazardous materials/uses impacts on the City and planning area. Does the current situation pose significant hazards for residents or the environment? What programs are in place to mitigate potential impact (the County's emergency response team is one example of a mitigation system in place and the remedial clean-up efforts for groundwater represent another)? In the first paragraph under project impacts, the future impacts also include potential for future contamination of the environment from use of hazardous materials and accidental releases of hazardous materials that can adversely impact the community. Page 4-214 The analysis of potential adverse impacts in the bottom paragraph on the page does not even address the three potential hazardous materials issues identified in the above paragraph, let alone the additional issues identified 2 I above. The analysis needs to be expanded and related to the proposed Plan's land use designations and to potential areas where hazardous material conflicts may be at their greatest with residential areas shown on the Plan. Page 4-213 Page 4-214 Page 4-214 Page 4-214 Page 4-217 Page 4-219 Page 4-219 Page 4-219 Page 4-226 Page 4-227 o o question of whether adverse impacts will occur downstream of the planning area due to development needs to be addressed by mitigation. In the legend of Figure 23, the term "Surfaced" should read "Surface". The discussion of groundwater contamination in the first paragraph on this page should provide a map illustrating the apparent movement of existing plumes and a discussion of the City's efforts to treat groundwater by removing the contaminants. In the first line the word "presence" should probably read "pressure". In the fIrst line on the page the word "is" should read "are". In the second paragraph on the page, next to last sentence the word "list" should read "lists". ' In the second paragraph, the road noise levels should be mapped in order to compare them with adjacent land uses, both current and future. The tabular presentation method does not convey sufficient information to accomplish a direct comparison. In the second full paragraph on the page the locations of the heavy industrial operations need to be shown on a map and a more representative sample of noise levels needs to be provided. In the third line on the page, the term "on intermittent bases" should probably read "on an intermittent basis". This section on rail activity impacts suffers 35 \ ?'~ \ .,-If\ \ 22D 22\ \ '2::2-:2- \ 224 I 2:::6" I 'J..'2.W \ ?-21- 2'2!J \ 22\ In 4 Page 4-227 Page 4-228 Page 4-228 Page 4-228 Page 4-229 Page 4-230 Page 4-231 4- JI.. -......... - ~.Jll.,. ='_~.Wc o o from not evaluating the impacts of noise (including future projections) on the adjacent vacant parcels and their future land uses. An evaluation along each '.2?-~ rail alignment is necessary to determine whether the Plan creates the potential for exposing incompatible land uses to significant noise impacts. This analysis should be provided in the Final EIR. , The analysis of roadway noise impacts on adjacent land on the rest of this page and at the top of the next page fails to address the impact on existing uses along roadways that cannot be buffered and also does not provide an 2. '3 C analysis of whether uses proposed along the impacted roadways are inherently incompatible with future forecasted noise levels. Further, it is not clear that the land ownership patterns will allow the type of mitigation discussed below. These issues need to be addressed in the Final EIR. In the third paragraph, a graphic is needed to illustrate the statement that ( 2. 3l adequate buffers exist in "all" cases. No data are available to validate this comment. In the fourth paragraph, the specific policies and programs that reduce noise impacts need to be identified. In reference to the policy discussed in this paragraph the consequences of not being able to implement this policy is not ;-, ..." ~ discussed. Does this mean that existing noise sensitive uses in many locations --<- _ will be exposed to unacceptable noise levels that cannot be mitigated below a significant level? An analysis and conclusion needs to be provided for this issue in the Final EIR. The bottom paragraph on this page does not make sense. The text appears to be concluding that it is unreasonable to require existing uses to implement 2::,"'J the policy in the previous paragraph and that the noise impacts should be considered significant and unavoidable. Please rewrite to clarify this sentence. The policies and programs that will help "retard" noise level increases need to be identified. The prohibitions need to be examined to determine if they 2..'3'1- are permissive or mandatory. Until this is done it is not possible to independently verify the effectiveness of the proposed policies and programs. The discussions in the level of significan,ce and unavoidable adverse impact sections on this page do not reflect the previous discussions in the text and mitigation section regarding increased exposure of existing noise sensitive uses 23::; to noise levels exceeding the criteria established at the beginning of this chapter. This section needs to address this issue and a revised set of conclusions needs to be presented. In the second paragraph, the average wind speed was not 49 knots. The \ average high wind speed during a Santa Ana may have been 49 knots, but this 230' statement needs to be rewritten to define the specific conditions under which the listed values occur over the 39 year period. 36 .qq Page 7-1 Page 7-2 Page 9-2 .. -- .I _.1 IiIIII1 JIil..4. J:l. . o In the last full sentence on this page it is not appropriate to assign the responsibility on the planners to accomplish mitigation. The Plan must contain policies and programs that ensure the timing and expansion of infrastructure meets population growth. The policies and programs in the Plan that ensure' growth of infrastructure at the same rate as population growth need to be cited at this place in the text. No conclusion is presented regarding the significance of growth inducement of the plan. It will facilitiate growth and based on the economic development element it can probably be considered growth inducing. Provision of adequate infrastructure in a timely manner can reduce the adverse impacts of growth associated with inadequate service and utility infrastructure to meet needs. Finally, the proposed Plan results in less growth inducement (if this is the case) than the old Plan. ?-31- 23fJ The irreversible environmental change section does not address conversion of substantial open space to urban uses; loss of substantial acreage of important biological habitat; exposure of people to high noise environments; and other similar changes. Also, the permitted industrial uses and commercial uses (such as gasoline stations, industrial operations, pool supply facilities, and others) can pose the danger of environmentally significant accidents. The conclusion in the last sentence is invalid and requires revision. 2-Bf 37 ,QO . ~ - o o Response to Comments from: City of San Bernardino Plannin~ Department (dated May 1.1989) Nl Figure 3 has been amended to include the ERC as indicated on the following page. N2 The following information will be added to the Environmental Setting, Section 3.0 of the EIR: The Oty of San Bernardino planning area lies in a region where numerous faults are probably capable of generating moderate to large earthquakes. The four major fault systems potentially impacting the planning area are the San Andreas, the San Jacinto, the Cucamonga-Sierra Madre, and the Whittier-Elsinore. Zones of high liquefaction susceptibility are concentrated adjacent to the San Andreas fault north of the City and in the historic high groundwater area in the central and southern parts of the Oty. Although the lOo-year floodplain is generally confined to storm channels, debris basins and areas between levees, three portions of the planning area are subject to inundation from lOo-year flood flows not contained within storm drain facilities. The planning area contains numerous sites that have historically been subject to the use and disposal of hazardous materials. As a result, twenty groundwater wells now show evidence of groundwater contamination. Although much of the valley and upland areas have undergone extensive distur- bance by agricultural and urban uses, the planning area contains numerous sensi- tive biological elements within the planning area, including two federally-endan- gered plant species in the floodplain. . .... - . ~ ~ o ... h o.", w a: ;:)(1) C) u:: ~ .. il 5~ (fJ (fJ W () 0 a: a. '" ;: W - > W : 01 ~~ a: !Z a: Il~ ~i ~~ - w z u <( II: w hso ..J a. l!! Co.'" ..J zz z U I <( a: w Il~ i ~~ z ~~ ~g",> W 1;L~ll! eJ 0 z - Cl a: - - <( iso z c'" ~ a: I w OJ ~I z <( ~i (fJ u. 0 ~~ ~ - () 10. ~ o o Air quality in the planning area is poor. The South Coast Air Basin (which in- cludes the planning area) is a non-attainment area for ozone (03), carbon monoxide (CO), fine particulate matter (PMlO), and nitrogen oxides (NOx)' Water service is provided to the planning area by numerous districts and compa- nies, with the City of San Bernardino Municipal Water Department being the larg- est. Solid waste collection is provided primarily by the City's Department of Pub- lic Services and wastewater is treated at the San Bernardino Water Reclamation Plant. N3 The following page, page 3-2, was inadvertently omitted from the Draft EIR dis- tributed to the public. N4 The Santa Fe Railroad properties are considered to be an industrial use. The sentence in question will be amended to read as follows: "Other significant public and quasi-public uses in the planning area include Norton Air Force Base in the southeast and National Orange Show Grounds in the south-central part of the City." N5 Add the following text at the close of the sentence referenced in the comment: "nus has resulted in a variable and indistinct pattern of uses and densities. Some parcels are extensively developed with mid- and high-rise structures (City Hall, County Administrative Center, Convention Center, and Central City Mall); others contain low intensity single-story structures; and many are vacant or contain va- cant structures." lat ~ 4 e G Two significant hill formations interrupt the valley pattern. The Shandin Hills rise to a height of 1,717 feet, effectively separating the northwest section of the City from the re- mainder of the planning area. It comprises an important natural feature in the north- easterly portion of the planning area. Elevations range from a maximum of 4,000 feet at a point just inside the northernmost corporate boundary at Bailey Canyon to a minimum of approximately %0 feet at the point where the Santa Ana River passes beneath the Interstate lo-Interstate 215 inter- change. Regional and inter-regional access for the City of San Bernardino is provided by a sys- tem of freeways, highways, and local arterials. The San Bernardino Freeway a-10) is the major east-west freeway providing access west to Los Angeles and east to the desert communities and. beyond. Interstate 215 provides north-south freeway access to river- side and San Diego Counties to the south and the desert communities to the north. State Route 30 provides local east-west service between 1-215 and the eastern part of the City. The Route 30 corridor is currently under study for the development of a full free- way access to the numerous mountain recreation areas north of the City throughout the year. Because the San Bernardino planning area is situated alongside two major inter-regional freeways, it receives the benefits as well as the negative attributes of accessibility. Ease of access will help the County maintain its status as a regional center with continued residential and economic growth. This means providing jobs for residents as well as those in other communities. It also means residents can live in San Bernardino and work in other communities. However, continued growth in San Bernardino, the sur- rounding communities and the region means the local streets and the regional highway system will experience significant increases in traffic. 3-2 lall o o N6 Delete existing referenced text and replace with the following: "Few of the City's commercial districts are distinctly identifiable by use, development pattern, or physical form and scale. Most are characterized by a consistent pattern of "strip" multi-tenant retail centers, set back from streets with parking, and individual buildings, intermixed with single sites developed with independent structures which abut or are set back from the street. Exceptions include the Tri- City /Commercenter area, developed as an office-retail park setting, downtown, with its irregular mix of densities and uses, and a limited number of commercial clusters/nodes along the highway corridors." N7 Add the following at the end of the first paragraph: "These actions will result in various impacts on the City's land uses; some significant and some beneficial. The effects of these on the organization and character of uses and each category of use and district are described in the following paragraphs." N8 Add the following at the close of the paragraph continued from page 4-39: ''It is estimated that approximately 1,300 single-family and 240 multi-family housing units will be replaced on evolution of the Norton and Railroad areas to other uses. Primarily, the units to be displaced are occupied by low income households. (These impacts are more fully discussed in subsection '2 Residential'.)" N9, N10 & N11 The text referenced in these three comments will be revised as follows: c. '1n general, development in accordance with the Draft Plan will improve the compatibility among land uses. Policies are defined to mitigate potential im- pacts of noise (Policies 14.1.1, 14.4.1-2, 14.5.1-2, 14.6.1-5, 14.7.1-3, and 14.10.1-2), odor, light and glare, height and bulk, vehicular access, and functional activity (Policies 1.1233, 1.13.33, 1.13.36, 1.13.40, 1.15.35, 1.15.36, 1.19.35, 1.20.34, 1.21.31, 1.22.34,1.26.31,1.26.34,1.26.35,1.28.35,1.29.32, 1.31.31, 1.32.30, 1.33.30, 1.34.31, 1.35.30, 1.36.30, 1.37.31, 1.39.11, and 1.39.31) where dissimilar uses are located . ft ... IbII e o adjacent to one another. In the southeast of the City, residential areas subject to the high noise impacts of Norton Air Force Base will evolve to uses which are not noise-sensitive (refer to Land Use Map, e.g., light industrial and office-in- dustrial parks). In other high noise areas, the development of new sensitive uses will be prohibited unless adequate mitigation can be implemented (Policy 14.1.1) and existing such uses will be buffered by the installation of noise-atten- uating walls and other elements, where feasible (Policies 14.3.1 and 14.5.2). The Draft Plan, further, establishes limits on noise generation by uses (Policy 14.2.1). Where dissimilar land uses abut one another (e.g., residential and com- mercial), the Draft Plan provides for the implementation of buffers, property setbacks, height and bulk setbacks, and other elements, requiring project by project review to ensure their adequacy (refer to Policy series 1.3D.xx above). The development of a more homogeneous land use pattern, as described above, will reduce impacts that accrue to mixes of dissimilar uses. "Compatibility impacts could result from the introduction of residential use in the downtown area, either vertically integrated into structures whose lower levels are used for commercial, or horizontally distributed. These include po- tential conflicts of functional activity (i.e., commercial uses characterized by high customer use versus low activity, private housing), noise, light and glare, vehicular access, and public safety. Draft Plan policy (1.16.12 and 1.16.13) re- quires individual project review in these instances to provide adequate mitiga- tion of any potential impacts. "The Draft Plan will allow for the introduction of residential uses in areas of commercial development. In the Mount Vernon/Baseline areas, this is intend- ed to reduce overall commercial capacity; in the downtown area, this is intend- ed to create a more active mixed use environment. In these instances, impacts may occur at the interface of commercial and residential land use, e.g., noise and functional conflicts. In response to these potential impacts, the Draft Plan includes policies (1.22.12 and 1.22.13) that address siting of structures, buffers, I~I o o density and floor area ratios, parking, architectural character, landscapin~ and mitigation of noise, traffic, and lighting associated with commercial structures." N12 The paragraph in question on page 4-41 will be amended to read as follows: "The general quality of development and construction will be improved by implementa- tion of the Draft Plan's policies and standards, particularly those listed in the 'Design' column, Table 7 A. Among these are policies that mandate the avoidance of anonymous, undifferentiated "stucco-boxes" (e.g., Policies 1.13-30, 1.13/40), establish a "pedestrian-oriented" character in the ground elevation of commercial structures in key activity areas of the City (e.g., 1.15.30-1.15.37), and require the ex- tensive use of on-site landscaping and amenities (e.g., 1.16.30-1.16.34)." N13 Add the following at the close of the paragraph: "In most cases, such intensifica- tion of development densities will be perceived by residents to be a significant im- pact. The evolution of single-family or mixed-density neighborhoods to higher density housing and rural areas to a suburban character will impact residents who choose to locate in the area due to the previous character and intensity of develop- ment and quality of life. The effects of increasing site coverage and building bulk, and loss of open space are significant. In commercial locations where the Plan pro- vides for infill at prevailing densities and building heights (e.g., Highland Avenue 'Core' and most General Commercial areas), the impacts will be modest. Areas subject to the greatest intensification (e.g., downtown and 'Regional Opportunities Corridor') or which are currently sparsely developed (e.g., Waterman Avenue cor- ridor) will experience the most significant impacts." N14 Add the following at the close of paragraph "f": "The loss of these open spaces represents a significant impact." 11'lt." '" o o N15 Statement "g' referenced in the comment, page 4-42 will be removed from the text. Land use compatibility issues in the vicinity of the southeast portion of the plan- ning area are correctly addressed on page 4-47. N16 Add the following at the close of the referenced sentence: "...due to the location of residential units on the west side of Mountain View Avenue adjacent to the mixed industrial and commercial uses planned (in County areas) to the east." N17 Density impacts are discussed elsewhere in the E1R on a topic by topic basis. NIB Add the following at the close of the referenced paragraph: "It is estimated that approximately 1,104 single-family and 234 multi-family units would be displaced. Such displacement would significantly impact the City's resource of low income housing units. The extent to which this impact will be offset will depend on the Qty's ability to provide additional low and moderate priced units per the pro- grams stipulated in the Housing Element (12.12, 12.13, 12.14, 1215,1226,1228,12.29, 1232, and 1233). At the same time, this will eliminate the current adverse impact of residential units located in areas exposed to extreme noise levels exceeding an Ldn of 70 dB(A)." Add the following at the close of the referenced paragraph: "In- creasing densities and loss of open space will be perceived as a significant impact by residents who located in these areas because of their 'rural' setting." N19 Add the following at the close of the referenced paragraph: "In the long-term, the evolution of these areas will result in the elimination or relocation of uses which are inconsistent with their intended use. Such will be classified as 'nonconforming uses' and permitted to continue in place until cessation of the business or occur- rence of a disaster which destroys the majority of a structure. Additionally, the physical expansion of nonconforming uses will be limited. These effects may be significant." ,qfl o o N20 Add the following at the close of the last sentence: "...by affecting radar operations and landing patterns. However, such impacts would be offset by controls estab- lished by continuation (for military) or modification (for public-private reuse) of the Air Installation Compatible Use Zone (Policy 1.39.31)." N21 & N22 Add the following at the close of the second sentence: "...(refer to Policies 1.22.14, 1.22.15, 1.22.31, 1.22.32, 1.24.10-15, 1.24.30-36, 4.17.1, 4.17.2). New development will be limited to densities and heights comparable to existing structures, main- taining the scale, rhythm, and pattern of development (Policies 1.22.20, 1.24.20, and 1.24.30)." Add the following at the close of the first paragraph: ''The latter would result from the improvement of existing dilapidated and vacant buildings which are fire hazards and frequently the location of criminal activity." N23 Add the following at the close of the first sentence (first full paragraph): locations between the commercial centers (Policy 1.22.12)." " . ...m Add the following at the close of the referenced paragraph: "...(refer to Policies 1.22.12 and 1.22.34)." N24 Add the following at the close of the referenced paragraph: ''The latter requires (in Policy 1.7.6) that projects 'adequately mitigate impacts attributable to their in- creased scale and density and are compatible with adjacent uses.'" N2S Add the following at the close of the referenced paragraph: ''In the planning area it is estimated that approximately 1,300 single-family and 240 multi-family units could be replaced. As previously stated (3. Residential, 'e), this may significantly impact the City's supply of affordable housing units for which mitigation will depend upon the effective implementation of the Housing Element's programs. I.a .... o o Nonconfol'IlliI\g commercial uses would be permitted to continue until cessation of business or destruction of a majority of the structure." N26 Add the following new paragraph at the close of the referenced paragraph: "All of the 12,146 acres of vacant land are designated for a land use. Of these, the Plan identifies an additional 507 acres (4 percent) for future parks (Objective 9.1 and Policies 9.1.1-14). Hillside areas exceeding 40% slope will be maintained as open space (Policy 1.14.31) and on slopes of 15-40% residential units will be clustered to protect hillside topography and significant biological habitats, maintaining the un- developed areas as permanent open space (Policies 1.14.10, 1.14.121, 1.14.13, 1.14.31,1.14.33,1.14.34,1.14.35,1.14.36,1.14.38, and 1.14.41). While these will pre- serve lands as open space, there will be an overall net reduction and significant im- pact on those lands." N27 The text will be amended to include Figure 5...A. indicating the location of adjacent land uses. That figure, which will be referenced in the text, is shown on the fol- lowing page. N28 Last paragraph, third sentence, delete and replace with the following: "The uses have been allocated (by type, density, setback and height) to prevent impacts by or on Norton Air Force Base." N29 Add the following at the close of the second complete sentence: "...(Policies 1.28.34 and 1.32.31)" Delete last sentence. N30 Add the following at the close of the second complete paragraph: "...(refer to Poli- cy 1.13.40)." '" nn J W a: ::> ~ - u. w en "'J c Z <C -J f- Z W -C) <C .., C <C "'--"" -0 o ~ 'ill 15 .Q a: ..C .e ~~.: " C !!' a" ~ -e 18 g ~if8 ~ l :g ~ .s;",,] .218 !!l";; -2<Ji ~ ~ E~~ ~~ ~..~~~ 1 ~ ~ ~~E 8> s~. .U jOo; 1 ~Ji~ ~;g6; -:ill I a:00;~;g a: ~2~ ~~~~ ~.~.. j~lff!~IEI~I!i~!~~~!i,iiJ ~~~~~!~~~~i~~~~~~~f]ii..ji ~ ~~ijl~jj~~~~88~~~~!J~ ~~ ~ -~M.~G~m~~=~~~~~~~~ - M.~ 'JZ <: ~ ~ ~ 0: 8 ~ s..1 :::i ~ . -I E9 -~ -" -0 ~ 9 .:. .!: . 9 . . " . ,'" E9 .-...---.--....--- . . . . . . . . . '''Y.If~ta:f ee z o I- ... o o 'SIMellel : .... o I- ... ~ a: E9 ........l ~ o o N31 Paragraph continued from page 4-48, delete last sentence and replace with the fol- lowing: ''TIle continuation of commercial and residential areas with comparable uses and densities across City boundaries, will maintain the consistency and com- patibility of the uses." N32 Add the following at the close of the second sentence of the first complete para- graph: "...wherein all areas of 15% and greater slope will be restricted by the den- sity and design standards of the Hillside Management zone (Policies 1.14.10-14 and 1.14.30-41). Densities of the Specific Plan could, therefore, be reduced. As such, uses to the west of the Plan area will be consistent in density and design." Delete last sentence. N33 Add the following after the second sentence (second complete paragraph): ",...restricting development to slopes of less than 40 percent and providing for clustering of units between 15 and 40 percent (Policy 1.14.31). These standards coupled with density limitations, which lessen density as slopes increase (Policy 1.14.10), will act as a transition to the National Forest lands from the more densely developed urban areas to the south." N34 Third complete paragraph, delete last sentence and replace with the following: ''TIle distances separating these uses, and policies for compatibility for industrial uses (Policies 1.3231 and 1.34.31), will preclude significant impacts on the Park or Wash areas outside the planning area." N35 Last paragraph, first sentence, replace "supported" with "abutted." N36 First complete paragraph, delete fourth sentence and replace with the following: ''Single- and multi-family units will be separated by streets and incorporate prop- erty and building elevation setbacks (Policies 1.13.33, 1.13.36, and 1.13.40) to main- tain compatibility among uses." Revise seventh sentence as follows: ''TIlese areas are also abutted on the north by heavy industrial zones within San Bernardino for o o which the Plan (Policy 1.33.30) requires the buffering of the industrial and com- mercial uses." N37 Last paragraph revise as follows: '1n summary, it is apparent that the Draft Land Use Plan will impact or be impacted by the uses in adjacent communities in limit- ed locations. The southeast residential portion of the City adjacent to Norton Air Force Base and 1-10 could be impacted by the office and industrial uses provided by the East Valley Corridor Specific Plan. These impacts may be mitigated by the coordination of development in the Specific Plan area with the City of San Bernardino, requiring appropriate buffers and transitional uses. Areas adjacent to Norton Air Force Base could be impacted by its reuses. These areas include the City of Highland and the unincorporated areas of San Bernardino County to the east and southeast. The potential impacts of reuse could be mitigated by the for- mulation of a Specific Plan for the Base and adjacent 'impacted" properties, and in- corporation of appropriate buffers and transitional uses (Policies 1.39.30 and 1.39.31)." N38 Add the following at the close of the referenced sentence: "This process shall include review of the potential environmental impacts of proposed projects, and identification and implementation of mitigation measures." N39 Delete the second sentence and replace with the following: "As their development capacity considerably exceeds market demand projections, the City shall consider the potential of reducing their capacity (by rezoning, establishment of 'holding areas', or other appropriate techniques) and/or increasing development marketing activities should revitalization not be occurring." ~O~ ~ o o N40 The following information will be added to the mitigation discussion on page 4-52 of the Draft EIR: "Implementation of the mitigation measures listed above are not expected to result in any environmental impacts. Measures are related to funding, community participation and potential future reduction in the development capac- ity of the subject area." N41'Section 4.1.1.5 Level of Significance ''Land Use" will be amended to read as fol- lows: "Implementation of the Draft Plan will result in a substantial and permanent change to the character of development in the City of San Bernardino. Although many land use issues can be (and have been) effectively mitigated through Plan policies and implementation programs, the general intensification of development and associated loss of vacant land/open space cannot be mitigated within the scope of the Plan. Consequently, implementation of the Draft Plan will result in Class I level of impacts (significant impacts, not avoidable within the scope of the project)." N42 The source of the data, as cited in the EIR text, is the General Plan Technical Back- ground Report. Further, the text indicates that the City contains 58,571 housing units in 1988 not "will be." N43 Last paragraph, second to last sentence: delete. N44 The last sentence on page 4-53 will be amended to read as follows: "The majority of sing1~fami1y uses are located north of Foothill Boulevard. The exceptions to this are small pockets located west of Rancho Avenue and south of Foothill Boul~ vard, pockets located south of Rialto Avenue and east of Rancho, a fairly large area of sing1~family located north of Interstate 10 and southeast of the City limit of San Bernardino, and several small pockets located between Tippecanoe Avenue south of Foothill and east of approximately Sierra Way." ",HI o o N45 First paragraph, second sentence, delete and replace with the following: "Areas of the City developed since the early 1960s primarily contain subdivisions with 'standard' single-family lots of 7,200 square feet." N46 Last paragraph, last sentence: delete. N47 Fourth paragraph, add the following at the close: "...according to the Board of Re- altors." N48 First paragraph, first sentence: add "regional" between "projected" and "popula- tion." N49 Revise, beginning with seventh line, as follows: "...logical habitats) and infrastructure capacities: Straight-line projections of SCAG's allocation for a twen- ty-year period (32,084 units, or 8,878 above the Plan) would require considerably more intensive development. The City's hillsides, significant biological habitats, earthquake fault zones, and flood hazard areas. The Plan's development densities were formulated to maintain the integrity of those areas and protect properties from hazards. In addition, increased densities would require conversion of additional single-family neighborhoods and 'affordable' units to multi-family den- sities. It is likely that the differential of 8,878 units would be largely multi-family, increasing the ratio of new single- and multi-family units from 50:50 to 37:67. As a consequence, the Housing Element provides for the development of the one quar- ter of the housing capacity, or 5,802 units, during the five-year period. These units would be distributed among the income levels as follows:" (Note: The justification in reducing the City's "fair share allocation" is the responsibility of the Plan, not the EIR.) N50 Third paragraph, revise as follows: "Draft General Plan policies would contribute to the preservation of existing residential housing by requiring the upkeep, main- tenance and rehabilitation of existing housing consistent with the requirements of ,,^, - o o the City's building code (Policy 2.3.4 and Programs 12.23, 12.24, and 12.25). The Plan provides that the City continue to offer fmancial assistance for housing rehabilitation to eligible owners of rental units with low income tenants (Program 12.11), to low income homeowners to bring older single-family dwellings into con- formity with the City's building code (Program 12.10), and, through a new pro- gram, to buy and rehabilitate abandoned houses for resale to eligible low and moderate income households (Program 12.22)." N51 Paragraph continued from Page 4-60, add the following: "...{Policies 2.4.2, 2.4.1, and 2.4.3, respectively)." FlI'St complete paragraph, add the following: "...(Policies 26.7 and 2.6.2, respectively)." Second complete paragraph, add the following at the end of the first sentence: "...{Policies 2.6.3, 2.6.4, and 2.6.1, respectively)" and the following at the end of the second sentence: "...(Policy 2.6.5)." Third complete sentence, add the following: "...(Policy 2.7.1)." N52 Last paragraph, add the following at its close: "This will be exacerbated by the po- tential replacement of an estimated 1,300 single-family and 230 multi-family units, primarily occupied by low and moderate income households, on evolution of areas in proximity to Norton Air Force Base and the Railroad Yards to other land uses. Further, many low income single-family areas north and east of downtown will evolve to higher densities. The loss of these units, coupled with incremental increases in the costs and pricing of housing, will adversely affect the City's supply of affordable housing units. Reductions in the City's affordable housing will, fur- ther, impact the overall supply in the greater San Bernardino Valley and RSA-29." N53 First paragraph, add the following: "These changes, except for the flrst, will represent significant impacts on the City's housing resources, including the loss of 'affordable' units and intensification of development." "I"" o o N54 Add new subsection "C" as follows: "c. Housing Quality '1mplementation of the General Plan will result in various impacts on the Oty's housing quality. Preservation of existing single-family neighborhoods will increase the age of the housing units and long-term potential deteriora- tion, without proper upkeep, in these areas. Plan policies provide for the monitoring of the physical conditions of housing and enforcement of building codes (1.41.1, 1.41.3, and 2.3.4), educational programs for housing mainte- nance (1.41.2), assistance in the rehabilitation of rental and low income units (2.3.1 and 2.3.2), and program for the recycling of abandoned units (2.3.3) as means to maintain the quality of existing housing and upgrade deteriorated units. Effective implementation of these would significantly benefit the hous- ing stock. In areas north of downtown, the Plan provides for the intensification of mixed density residential neighborhoods, many of which contain dilapidated units (refer to Land Use Plan). This, coupled with the Plan's policies for the quality of new multi-family development (1.13.32, 1.13.35, and 1.13.39), would enhance the quality of the City's housing." N55 Add the following to "4.1.2.3, Cumulative Impacts": "As a consequence, subse- quent regional housing development demands would be expected to be shifted to, and significantly impact, adjacent communities which contain vacant lands with fewer environmental constraints." N56 The following will be added to the discussion of mitigation measures regarding housing, page 4-62: "These measures are not expected to result in any environ- mental impacts, although the utilization of funds for purposes stated above would remove availability of those funds for any other purpose." N57 The correction indicated in the comment will be made to the text. ~O~ L e o N58 Figure Sb will be added to the text to indicate the location of areas surveyed for historic district merit. N59 The term "historic" used here is not a formal designation but is instead descriptive, to indicate that these sites are considered to have significant histori- cal resource value for the community. N60 The last complete paragraph on page 4-68 will be amended to read as follows: '1t should be noted that even with the policies and programs of the Draft Plan implemented, significant adverse effects to archaeological and historical resourc- es may still occur: Previously unknown archaeological sites may be encountered during new project construction, especially in areas of the mountain foothills and canyons, and in the Shandin Hills. Moreover, every older and potentially signifi- cant building in the developed areas of the City, including those identified and designated significant by the City, can legally be replaced by another because of overriding economic or public safety concerns. The Draft Plan does, however, provide a maximal level of protection for those designated resources which can be considered legally acceptable." N61 The following information will be added to the "project impacts" discussion: "Additional impacts to historic resources arise indirectly out of the general in- crease in population levels and related increased levels of atmospheric pollution and vehicular traffic. The nature of these impacts include external erosion of structures and deterioration of artifacts due to acid deposition from the atmo- sphere, structural cracking or vibration damage due to vehicular or human foot traffic, and perhaps vandalism." N62 See response to comment El in reference to page 4-69 of the text. ,., ..::lO~ I/) 0 I- ~ cc l- I/) ~ c - U .!:! "C ~ - ;;; - '" is cc C 0 iii iii l- I/) ;; 'u i: c - -'l ., ., \(l ...I 'g E < 'iii E ~ ., 0 111 CC 0 CC Z ::l W l- I I Cl 0 ii: ll.. ~ IS tillS ,JJ _. , , ,-- . .'. . . .' c .' . .." :: ..' .' .' ;..................... . o . . . . . .......... #...... .' .t........ ~1-. ..' " .' :........ I I , , , 1--' , .... ................ : I . L, . , . o - o ~ J : --,- t--------I"-, it , " , : I' ~ , , , , , '---- I I \ "'--1 I I l_..Jr , -- ~, , , I ---, I -- I -- r--- ,----"'j "'I ,_J I I I I 1..1 I ~I ~I I " -, , , , , ~ ,,- , I , -, , / 1;'--/ \ ( (....--,'/ , , l.._, ,- o ,-, , ... -, , , , 1___ 1 , I I II'" -( , / I ( - I IQr I , 'H I ". ,-----' I L__, , I I " 'i I _, , l~/l 'l..1 rr7 -. lAW III'" ISllIItqllY J I J,- , 5 .. .. ~ c ;;; --_"'I,__r -, , IA't'lW'OVt>> 11 I \ .' I 'I- I L_"" I., 1. 'A' "'..I'M Ii w Q 0. ~~ 0"" f5 ~ 9 .~. 'q~.., > ~ a:--t ,!:zlii I _41:_ , _tIIQ I ---., ". Vo; . . " II. o llO:> 8: ...0 'lID Z I 0 "" I 101&1 ,.> ~o "_ ....~ .. i g ~ :1__ c !! en ;; iE i I IS Itdel... '__1 z I . . 2-65 ~ Z -: .. . . ~ ;; . ~ -i' I -I =~; i I _01 "\;Z I 2::1 01 ;:::: ~ o 2: 8 ~ o ~ ::s ~ '---, ( I, \ / i c .S! ! ~ o o E ,~ w ~ l! ~, 8q " e o N63 See response to N61 above. In addition, the first item on page 4-70 will be amended to read: ''Poor air quality will cause incremental degradation to the ex- terior of structures and potential associated deterioration of historical artifacts." The Level of Environmental Significance discussion will be amended to read as follows: "Because previously unknown archaeological resources may be discov- ered during new construction projects, and because historical resources may be lost as a result of economic or public safety concerns, potentially significant and unavoidable adverse (Class n impacts may occur." N64 The second and third sentences on page 4-172 will be amended to read as fol- lows: "The San Bernardino Freeway 0-10) is the major east-west freeway provid- ing access west to Los Angeles and east to the low desert communities and be- yond. Interstate 215 provides north-south freeway access to Riverside and San Diego Counties to the south, and the high desert communities to the north." The last sentence in the same paragraph will be amended to read as follows: "State Route 18 provides access to the numerous recreation areas north of the City throughout the year." N65 Due to the extensive size of the "project site" and the roadway network under consideration, it would not be feasible to indicate ADTs and levels of service on appropriate, legible maps. The following discussion will be added to the text of the EIR, page 4-72 immediately preceding the subheading ''Freeways'': "The fol- lowing discussion describes the major roadways in the City of San Bernardino. Figures 6 and 7 indicate the location and classification of these roadways. Tables 11 and 12. indicate their design criteria, existing (1987) daily volumes, vol- ume/ capacity ratio, and resulting level of service." N66 The reference to "Sierra Highway" in the first sentence on page 4-75 will be changed to read "Sierra Way". ~u" . J.. mUilll J:L . ~ o o N67 The sentence in the discussion concerning Rancho Avenue will be amended to read as follows: "ADT volumes are about 10,000 vehicles immediately south of Rialto Avenue and dropping to about 5,000 vehicles further to the south." N68 In the discussion on page 4-75 of Cajon Boulevard, the words ''Barstow Free- way I Devon Freeway" will be corrected to read ''Barstow Freeway I Devore Free- way (1-15)". N69 On page 4-75, of the EIR, in the Mount Vernon Avenue discussion, the word "form" on the first line will be amended to read "from". N70 Reference to Tippecanoe Avenue will be changed to refer to Lena. Due to the current uncertainty of future land uses associated with Norton Air Force Base, the General Plan includes objectives and policies to provide a framework for fu- ture development of the Base. Policies 1.39.10 and 1.39.11 address the formula- tion of a specific plan in collaboration with other appropriate jurisdictions for the reuse of Norton Air Force Base. During formulation of the specifIc plan, as the use of the property is determined, roadway alignments will be determined at that time. As part of such a study, the impacts of any realignment of roads would be addressed during environmental evaluation. N71 The two sentences in question in the discussion of Creek Road on page 4-77 will be amended to read as follows: "South of Highland Avenue, the road becomes a four-lane divided facility known as Mountain Avenue (SR-30). In this segment it has an ADT volume of approximately 8,000 vehicles." N72 The first sentence in the discussion of 40th Street on page 4-77 will be amended to read as follows: ''Fortieth Street is classifIed as a major arterial and runs from Kendall Drive (SR-206) to Waterman Avenue." ~, , - - ...... ~ .mb. _ ~ ." . o N73 The following information will be added to page 4-77 of the text: "30th Street- Lynwood Avenue is an east-west facility which parallels Route 30, just north of the freeway extending from little Mountain Drive on the West to Victoria Ave- nue on the east. It is primarily a four-lane roadway with 30th Street currently designated as a collector and Lynwood Avenue designated as a secondary arteri- al. Existing ADTs range from about 3,000 vehicles per day between ''E'' and "F" Streets to about 14,000 between Arrowhead and Waterman. ADTs decline to 8,500 east of Golden Avenue. The circulation element of the Draft Plan does not pose any changes along 30th Street or Lynwood Avenue. Future volumes following completion of the Route 30 Freeway were forecast to range from 8,000 to 20,000 vehicles per day. That volume is within the acceptable capacity of a four-lane roadway." N74 The last sentence on page 4-77 will be amended to read as follows: ''It has a total of four through-lanes along most of its length except for a two-lane segment east of City Creek Road." N75 The second sentence on the discussion of 5th Street will be amended to read as follows: ''It has a total of four through-lanes west of Waterman Avenue and two lanes east of Waterman." N76 On page 4-7 of the EIR, the last word on the first line will be corrected to read "Avenue". N77 On page 4-79 of the EIR, the last sentence in the discussion concerning Rialto Av- enue will be amended to read as follows: "ADT is about 10,000 vehicles at Ar- rowhead Avenue and at Rancho Avenue. Volumes increase to about 20,000 ADT at ''E'' Street downtown." N78 On page 4-80, the sentence beginning on the seventh line of the page will be amended to read as follows: ''The volumes currently being experienced on the ... I .. o o roadways in the study area are consistent with the functional classification (in- tended uses) of the streets in the circulation network. Only a limited amount of congestion or delay is currently experienced during peak hours, indicating that adequate capacity is generally available to accommodate significant amounts of additional traffic generation downtown. Capacity deficiencies are currently ex- perienced on Highland Avenue, Baseline Street, and Redlands Boulevard near 1- 215, on Mill Street east of Waterman Avenue, on Waterman Avenue near Hospi- tality Lane, 40th Street between Sierra and Mountain View, Sierra Way between 40th and 5th Streets, Del Rosa Drive near Route 30, 9th Street between Tippecanoe and Palm, and on "E" Street near its southern end." N79 The sentence in question on page 4-81 will be corrected to read as follows: ''Level of Service "E" is considered to be the ultimate capacity of the street." N80 Regarding the discussion of Highland Avenue at the top of page 4-93, references to ''Route 30" will be changed to indicate references to ''Route 330." This same correction will be made to the discussion of ''Highland Avenue" on Table 12 and Figure 8. N81 On page 4-95 of the EIR, the first sentence of the first complete paragraph on that page will be amended to read as follows: "Omnitrans has indicated that transit trips in San Bernardino account for less than two percent of the home-to-work trips and just slightly higher than one-half of one percent of total daily trips." N82 The following information will be added to the impact analysis of the circulation discussion: ''The existing conditions model was composed of seventy-five zones internal to the City of San Bernardino. Trips were generated for these seventy- five zones based on the land use information supplied by the City. These values are shown in Table 13 as '1987 Existing Trip Ends.' For the area outside of the City, data included in the Caltrans LARTS model for Route 30 was used. For the future conditions model, a similar procedure was used." "\I~ l o o "The apparent discrepancy between the increase in trip ends and the increase in dwelling units can be explained by the fact that, in the existing conditions model, the land use and trip ends were calculated for seventy-five zones. For the future model (Draft Plan), however, land use was collected for eighty zones while the trip ends reflected in Table 13 were calculated for seventy-five zones. The trips in the additional five zones were gathered from the Caltrans data and, thus, all of the trips for the future model were accounted for. The trip generation rates were held constant for single-family and multi-family dwelling units so that the in- crease in trips generated was directly proportional to the increase in dwelling units on a zone-by-zone basis." Specific generation rates are indicated on the table on the following page. N83 The following paragraph will be added to page 4-97 of the text immediately pre- ceding the second complete paragraph now currently on the page: ''In order to forecast future traffic conditions, a travel demand forecasting model was devel- oped. The microcomputer model was developed using the TRANPLAN soft- ware and was based on the regional model developed by Caltrans for the Route 30 Freeway EIR. It includes the regional growth and programmed regional transportation improvements (e.g., Route 30 Freeway) forecast by SCAG and Caltrans for the year 2010. The focus of the model is on the City of San Bernardino and areas immediately surrounding the City. It includes 130 traffic analysis zones (TAZs) of which 75 are within the City of San Bernardino. An ad- ditiona133 zones were identified to represent to/from locations further outside the study area." The first sentence on the last paragraph on page 4-97 will be amended to read as follows: ''Table 15 lists 49 locations where roadway level of service is forecast, by the travel demand forecasting model discussed above, to be ''E'' or "F" following total project buildout." ~'\4 A o o Oty of San Bernardino Travel Model Trip Generation Equations - iii Pw:pose SFH Tri,p Generation Rates MFH ~ OS Productions HBW HBS HBO NHB 2.021 1.946 5.029 0.229 1.517 1.090 2.691 0.186 5.446 Attractions HBW HBS HBO NHB 0.106 0.086 6.771 13.504 18.245 5.446 1.040 0.229 0.845 0.186 SFH = Single-Family Housing MFH = Multi-Family Housing CS = Area Reserved for Commercial Use, in 1.000 sq.ft. OS = Area Reserved for Office Use, in 1.000 sq.ft. IS = Area Reserved for Industrial Use, in 1.000 sq.ft. HBW = Home-Based Work Trips HBS = Home-Based Shopping Trips HBO = Home-Based Other Trips NHB = Non-Horne-Based Trips Trip Generation Rates are regression model coefficients. Source: 1) OKS Associates 2) ITE Trip Generation Manual (3rd Edition) 2.034 2.560 11.072 2.034 IS 1.686 2.059 1.686 ~ ,I' . m. . u -.- e o N84 The text referenced in this comment does not contain any hidden assumptions. The text clearly states on page 4-97 that the discussions of roadway segments with respect to Volume/Capacity ratios follows "buildout of the Draft Plan and implementation of the Plan circulation system." The title of Table 15 indicates that the Volume/Capacity ratios on the table are "assuming implementation of roadway improvements per the Draft Plan." Because the EIR addresses imple- mentation of the Draft Plan, in analyzing circulation the entire Plan was considered: both buildout of the land use map with associated trip generation and the circulation section of the Draft Plan including proposed roadway improvements. In the bottom paragraph on page 4-97, the text again clarifies this issue by stating that the capacities indicated on Table 15 used in calculating pro- jected Level of Service represent capacities after implementation of roadway im- provements per the Draft Plan. The text continues by pointing out that actual traffic conditions could be somewhat worse than the table indicates, depending upon the exact timing of land use development with respect to implementation of planned roadway improvements. As indicated in the mitigation section of the traffic analysis, the Plan has ad- dressed the issue of timing with respect to buildout and roadway improvements. As indicated in response to comment El, Policy 6.1.1 and Implementation Pro- gram 6.1 indicate that the City shall annually review the functioning of the street system as part of the capital improvement program to identify problems and pursue implementation of improvements identified as needed in a timely man- ner. This policy and implementation program provide guidelines for the City for implementing improvements to the circulation systems as needed to respond to the City's pattern of growth. N85 As indicated in the bottom paragraph on page 4-97, actual traffic conditions that would be experienced in San Bernardino could be somewhat worse (or some- what better) than indicated on Table 15, depending upon the exact timing of land use development with respect to implementation of planned roadway improve- ~ \1 L ~.. u II o o ments. The EIR does not discuss impacts related to not implementing specific parts of the Plan. The Draft Plan was taken as a unit in order to identify the environmental impacts that would result from its implementation. The following information will be added to the third complete paragraph on page 4-97 after the first sentence in that paragraph: "Many of the improvements (reclassification) indicated on Table 14 can be accomplished without road widen- ing. Any roads or road segments indicated on the table with the previous classification of '1ocal" require no physical changes to bring them up to the new classification. In those cases, the new classification simply reflects the current functioning characteristics of the street. Reclassification from "secondary" streets to "major" streets usually involves the prohibition of on-street parking at least during peak hours and does not involve physical changes to the street such as widening." With respect to funding mechanisms, the Final EIR will indicate, in response to comment E1 that Policy 6.1.13 requires that the burden of cost of roadway improvements including traffic signal installations shall be equitably distributed among property owners/developers benefiting from new development and highway users. N86 The following information will be added to the impact analysis of the Circulation discussion: '1n all cases, except for five roadways/ segments, the Draft Plan does not increase load widths from previously adopted plans. The five exceptions are the Pepper-Linden extension, the Rancho Avenue extension between Foothill and Highland, relatively short segments of Pioneer, a segment of Lena Road, and the Route 30 Freeway. In these areas, the adjacent lands are generally not devel- oped. However, in isolated instances due to existing patterns of development it is possible that implementation of the circulation plan could require additional setbacks which would impact existing uses. In general, it is possible that implementation of the circulation plan, and in particular the five roadways and/or segments listed above, could result in impacts to biological or archaeo- logical resources, or be in conflict with geological or soils hazards or limitations. ~h":l 1 41 - ct:I . . However at the time that the extensions are proposed and specific plans are drawn and engineered, detailed investigations of potential impacts will be un- dertaken." The following corrections will be made to Tables 14 and 15 in the text. On page 4-98.the street segment labeled Pepper Unden-Cajon Boulevard to SR-30 will be removed from the chart. (The new classification of that segment is "major" which means that no change will occur and the street segment does not need to be indicated on the table.) The same is true on page 4-99 for the Rancho Avenue- Foothill Boulevard to N /0 Baseline Street segment and that segment will also be deleted from the table. On page 4-100, the final entry on that page ''Fairway Drive between Mount Vernon and Sperry Drive" will be removed from the table. The correct capacity for that segment is 15,000 ADT and consequently the V /C ratio is actually below 1.00. On the third to the fmal entry on page 4-100 "the 210 Freeway" will be corrected to read ''1-10.'' On page 4-101 the first segment, ''Fair- way Drive between Sperry Drive and Orange Show Road," will be corrected as follows: The eastbound capacity will be changed to 15,000 ADT, buildout vol- ume will be changed to 37,300, and the V /C ratio will be corrected to read 2.49. The westbound direction on that same street segment will be corrected as fol- lows: The capacity will be increased to 15,000 ADT, buildout volume will be c.or- rected to read 35,800 and the V /C ratio will be corrected to read 2.39. The next street segment ''Fairway Drive between Orange Show Road and 1-10" will be re- moved from the table as such, and will be incorporated into the next listed street segment as follows: ''Fairway Drive between Orange Show Road and "E" Street." The eastbound direction of that segment will be indicated with the ca- pacity of 15,000 ADT, a buildout volume of 15,800 and a V /C ratio of 1.05. The westbound direction will be indicated with a capacity of 15,000 ADT, a buildout volume of 14,600 and a V /C ratio of 0.97. On page 4-102 the second segment list- ed will be corrected to read: "Hospitality Lane West of Waterman Avenue." The reference on page 4-102 "to Tippecanoe" will be replaced with a reference to Lena Avenue. ~'Jt o o In conjunction with these corrections the following changes will be made to the text: The first sentence, last paragraph on page 4-97 will be corrected to read: "Table 16 lists 47 locations where roadway Level of Service is forecast by the model to be "E" or ''F' following total project buildout. The following sentence will be removed from the text from page 4-105: "The most obvious examples of these would be eastbound Fairway Drive between Mount Vernon and Sperry Drive (V IC = 2.08) and Fairway Drive between Orange Show Road and 1-10, both directions (V IC = 5.96 to 6.21)." That sentence will be replaced with the fol- lowing sentence: "One example of this would be Fairway Drive between Sperry Drive and Orange Show Road (V IC = 2.39 to 2.49)." N87 Figure 9 indicates roadways segments where existing Volume to Capacity Ratio is already greater than or equal to 1.00. The text in question on page 4-103 will be amended to read as follows: "Figure 9 displays the location of roadway seg- ments which are currently (1987) operating with a V IC ratio greater than or equal to 1.00. These segments would be particularly impacted by implementa- tion of the Draft Plan because they do already operate with a Volume to Capacity Ratio greater than 1.00. Figure 9 illustrates that these segments of existing con- cern are located primarily along "E" Street from 1-10 to Baseline Street and south of 1-10, Waterman Avenue from I-to to Mill Street, plus segments of Sierra Way, Inland Center Drive, Mount Vernon Avenue, Fairway Drive and Orange Show Road. Traffic on these road segments would be expected to experience unstable flow, low operating speeds, severely limited ability to maneuver and possible queue formation." N88 Specific policies are identified in response to comment E1. N89 The reasons for the unfeasibility of providing Level of Service C on all road seg- ments is related both to the costs that would be associated with developing enough roadways within the City to maintain a Level of Service C, as well as the J.'~ [ o o constraints with respect to existing land uses. The mitigation of freeway traffic that passes through the Oty is not within the Oty's jurisdiction. That would be the responsibility of the appropriate state or federal entity. N90 See response to comment N89.above and N86. N91 As with all of the policies and programs contained in the Plan, the Oty will ultimately be required to implement the complete Plan as appropriate over the course of future development in the Oty. As indicated in response to comment N86 above, the EIR does refer to policies and implementation programs which address funding the proposed roadway improvements. In addition to Policy 6.1.13, Implementation Program 16.1 indicates that the City shall prepare an annual update to its five-year capital improvement program. Information to be included in that annual update is a priority ranking of projects and infrastructure improvements to be implemented over the next five-year period, and identifica- tion of the available sources of funding to finance implementation of each im- provement project. Thus while the Plan does not indicate a specific funding mechanism for each and every proposed improvement to the City's infrastructure, the Plan does contain mechanisms whereby the City will be re- sponsible for identifying those funding mechanisms as infrastructure improve- ments become necessary. N92 All of the policies described on the referenced pages have been identified by poli- cy number in response to comment E1. Each policy is part of the General Plan. Additional mitigation, not currently part of the Plan begins on page 4-111. N93 The following information will be added to the mitigation discussion on the cir- culation analysis: "The primary mechanisms through which the facilities shown on the circulation plan will be implemented are the following: (1) roadways con- structed as part of development projects (e.g., frontage improvements internal streets), (2) the Five-Year Capital Improvement Plan, and (3) the Traffic Systems ~~t: o o Fee. As noted in implementation program 16.8, the Oty shall annually review the Traffic Systems Fee to determine that it adequately reflects the current cost of fmancing the traffic network improvements necessary to accommodate the traffic generated by new developments." "The Traffic Systems Fee is currently set at $12.00 per vehicle-trip generated by any new development, or substantial improvement in an existing development, which results in a net increase in the number of vehicle-trips generated. The fee shall be adjusted each July 15 in accordance with the change in the Construction Cost Index. Based on the projected increase in trips documented in the EIR (1,870,300 new trips over 1987 conditions), the Traffic Systems Fee would generate $22,443,600 in revenue (in constant dollars) to be allocated to transpor- tation improvements. The City's current Five-Year Capital Improvement Pro- gram for the years 1987-88 to 1991-92 includes a total expenditure of $77,258,085 for capital improvements in the Oty. Of that total, $32,576,274 is allocated for streets, street lighting and traffic control projects." . N94 As indicated in response to comment M20, the referenced statement with respect to 100 trips per day will be changed to read as follows: "Prior to development, a detailed traffic analysis should be required for projects expected to produce vehi- cle trips in excess of the threshold to be established per Implementation Program 16.13 and appropriate mitigation measures identified to reduce trip generation and/or maintain a Level of Service C." N95 In addition to the policy referenced in this comment, the text, in response to com- ment El, now references Implementation Plans 16.4 and 16.14 both of which refer to secondary access. In particular 16.14 indicates that the Director of Public Works/City Engineer shall develop guidelines, for use in the site plan review process, which specify the requirements for multiple access routes to development projects. This indicates that secondary access requirements will become part of the site plan review process. At that time it will become the ".21 - o o City's responsibility to determine on a project by project basis whether a particular proposed development is in conformance with the City's adopted guidelines with respect to secondary access. The potential impact to develop- ments not served by secondary access will be assessed during the site plan re- view process and is not an appropriate topic of the EIR. N96' It is not the intention of the Plan to mandate implementation of the shuttle ser- vice. It is correct to use the word "pursue." The object is to find out whether im- plementation of the shuttle service would or would not be economically feasible and then to make a well founded decision based upon that information. N97 As indicated on page 4-110 of the text, the Transportation Demand Management Plan and Ordinance are considered to be one of the key implementation pro- grams which must be carried out to insure that the circulation system improve- ments are completed. The Transportation Demand Management Plan and Ordi- nance can be considered as firm mitigation. Per Implementation Plan 16.22, the Draft Plan indicates that the City shall develop a Transportation Demand Man- agement Plan and Ordinance containing specific programs for implementation by the City as well as specific requirements to be imposed on private develop- ment as conditions of program approval. The implementation program further states that the Plan and ordinance shall be consistent with regional policies of SCAG, San BAG, and the Air Quality Maintenance Board. N98 As indicated on page 4-105 of the Draft EIR, the requirement that Level of Service C be maintained over a 24-hour period would expect to result in significant im- pacts with respect to financial resources, commitment of land, physical impacts on adjacent land uses and short-term construction impacts. The last sentence in the referenced paragraph is not a "rationalization", but rather refers to the fact that the goals of future development of the City of San Bernardino as indicated in the land use section of the Draft Plan would not be met in full by the down-siz- ing of buildout that would be required to insure a Level of Service C. .3 .1~ o o N99 The following information will be added to the existing conditions discussion of the Circulation Section: '''The City of San Bernardino maintains accident records and submits them to the State of California via the Statewide Integrated Traffic Reporting System. These records indicate the location, type (cause), and time of accident. There are no apparent hazardous situations existing in the City, and Citywide accident statistics are comparable to County of San Bernardino and State of California averages." The following information will be added to the Project Impacts Section of the Traffic Analysis: '''The buildout of the land use ele- ment will likely result in an increased number of traffic accidents due to the in- creased traffic volumes, but it would not be expected to increase accident rates. There is nothing proposed in the Circulation Element that would be expected to cause a traffic hazard." The impacts of implementing the Circulation Element and associated mitigation measures will be added to the text as indicated in re- sponse to comment N86 above. NI00 The Figure 10 indicated on the following page will replace the Figure 10 original- ly included in the Draft EIR. NI0l Current daily water demand is indicated on Table 16 of the text, page 4-114. With respect to meeting fire flow requirements please see response NlOB. NI02 The final paragraph on page 4-113 will be amended to read as follows: "Ground- water is the major source of water for the SBMWD, with groundwater currently being pumped from the Bunker Hill Basin. Water purveyors can pump quantities of water from the basin up to the safe yield of the basin. When the basin has been pumped beyond the safe yield, groundwater supplies are supple- mented with State Project Water in the amount necessary to return the basin to safe yield. Treated streamwaters are also a normal source of supply for the Department. The primary source of streamwater currently used by the depart- ment is Devil Creek from which a maximum of approximately 3,360 acre-feet of ~:l'2t . I il ;1 ~ ~ ~ ;i~ ..( ~< ! ~ .,. 20 i >U oa: I ~~ <... i~ 3-43 o o water is available annually. The SBMWD also has entitlement to an additional two million gallons of water per day from Lytle Creek, although this water source is not presently being used by the Department." N103 With respect to a map of pressure zones, that information is not within the scope of this EIR. The following information will be added to the discussion address- ing East Valley Water District: "The East Valley Water District has indicated that it does have storage capacity to meet fire flow requirements. However, delivery of fire flow is dependent upon the transmission facilities infrastructure. Ability to meet fire flow at a particular location with respect to future development would need to analyzed on a project-by-project basis." N104 The information concerning the South San Bernardino County Water District will be rewritten as follows: "The South San Bernardino County Water District (SSB- CWD) is composed of two small water systems (North South) separated by the Santa Ana River. The SSBCWD currently is operating four groundwater wells from the Bunker Hill Basin. All water supply delivered by the district comes from the groundwater wells. However, in the event of an emergency (e.g., con- tamination of groundwater) the district does have the ability to delivery water supplied by the San Bernardino Municipal Water Department." N10S On page 4-116 of the Draft EIR, the discussion concerning the Muscoy Mutual Water System provides adequate information concerning the existing condition of that water system. N106 The second full paragraph on page 4-117 will be amended to read as follows: "The San Bernardino Municipal Water Department and the East Valley Water District together have a theoretical production capacity to supply approximately 123,000 acre-feet of water per year to the planning area with their existing facility." In the final paragraph on page 4-117, the next to the last sentence will be amended to read as follows: "As previously discussed, production capacity - - - - o o within the planning area exceeds the 1987 water demand by approximately SO,OOO acre-feet per year, given existing water purveyor facilities." N107 Although it is true that industrial growth will result in approximately ten times the square footage of existing industrial space at full development, the water demand is based (as indicated in Table 17) on 1.5 acre-feet per acre per year for industrial land uses and two acre-feet per year per acre for commercial. In other words, the water demand factors as provided by and confirmed by the San Bernardino Municipal Water Department are not based on square footage but rather are based on acres. N108 The following information will be added to the project impacts analysis in the discussion of water demand: ''The City of San Bernardino Fire Department has indicated the following fire flow requirements: (1) for a single-family dwelling, 500 to 1,500 gallons per minute (gpm) for a two-hour duration, (2) for multi-fami- ly residential units, 3,500 gallons per minute, (3) for commercial and industrial use, 3,500 to 8,000 gallons per minute depending upon the use. Fire flow requirements for commercial and industrial uses can be reduced by 50 percent if the use contains a sprinkler system installation. Although adequate water sup- ply exists to provide fire flow requirements, projects would need to be analyzed on an individual basis to determine whether or not the distribution facilities would be able to carry the fire flow requirements. For future development, the San Bernardino Municipal Water Department has stated that the department will continue to design water reservoirs, mains, transmission lines and production fa- cilities based on peak demand and fire flow requirements." N109 The last sentence on page 4-117 will be amended to read as follows: ''This avail- able capacity is more than adequate to meet projected increased water demand of 16,582 acre-feet/year associated with maximum Plan buildout." ...-" , o o NIlO As indicated in the top two paragraphs of page 4-120, the demand for additional water service resulting from General Plan buildout will require construction or upgrading transmission storage and distribution facilities. The EIR indicates that secondary impacts associated with the physical construction of the facility could be of concern. However, at this time specific projects for construction of water facilities are not being evaluated. When specific facility proposals are submitted appropriate environmental review will identify specific impacts that could result from their implementation. The EIR does not indicate that these potential sec- ondary impacts related to future development of facilities will not be significant. That determination would be made at the time that projects are analyzed on an individual basis." N111 As indicated in response to comment E1, the text has been amended to indicate that Policy 7.6.2 and associated Implementation Programs 17.2, 17.16 and 117.19 address the construction of upgraded and expanded water facilities to support existing and new development. Policy 7.6.4 and Implementation Program 17.17 assure that growth will proceed no faster than expansion of water facilities by re- quiring that adequate water facilities be operational prior to the issuance of cer- tificates of occupancy. NIl2 The EIR indicates that ultimate buildout of RSA-29 would be anticipated to re- quire approximately 153,000 acre-feet of water per year. Due to the potential double counting of units indicated in the description of the cumulative project in section 2.0 of the EIR, it is likely that ultimate buildout of RSA-29 would result in a water demand somewhat less than that indicated. Further information request- ed in the comment with respect to analysis of each water purveyor for RSA-29 is not necessary to be included in the EIR. At such time as development occurs in each of the various jurisdictions in RSA-29, responsible jurisdictions will deter- mine whether or not adequate water supply and facilities are available on a local individual basis. With respect to Table 19, see response to comment N107 above. ~2t jjJ o o N113 The text states that mitigation measures would be identified when future water system facilities are developed, not achieved as indicated in the comment. The text makes no statement to indicate the level of impact mitigation that would occur, nor if any unavoidable adverse impacts would result. N114 See response to comment N108 above. Information concerning water storage re- quirements in each pressure zone is not appropriate within the scope of this EIR. As indicated in the text and in response to comment E1, Draft Plan policies and programs require the construction of upgraded and expanded water facilities to support existing and new development and also require that adequate water fa- cilities be operational prior to the issuance of Certificates of Occupancy. These programs will ensure that the water system is expanded at the same rate as growth. The potential impacts of expanding the water system are addressed in paragraph two, page 4-120. NIlS Please refer to response to comment N120. N116 The information provided in the third paragraph on page 4-123 is referenced as being provided by Mr. Dan Forrest of the San Bernardino County Solid Waste Management Department. The comment presents an opinion with respect to the County Solid Waste Management Plan. However, the text is correct to say that the Department did indicate incineration as one of the waste management prac- tices that is being considered for the Management Plan. N117 The following information will be added to page 4-123 of the text: "The County Solid Waste Management Department has indicated that approximately 11 per- cent of solid waste generated in the County of San Bernardino is currently recy- cled." Nl18 "(2,960 cubic yards)" will be inserted into the first sentence on page 4-124. "(4,100 cubic yards)" will be inserted into the third sentence on page 4-124. The ,,"'c: o o following sentence will be added to the end of paragraph two on page 4-124: "It should be noted that secondary impacts to air quality will occur as a result of an increased number of collection trucks hauling the additional solid waste addi- tional miles." N119 The following sentence will be added to paragraph one on page 4-124: "Expand- ed collection services will require expansion of routes and an increase in the number of collection trucks." N120 The first sentence of paragraph two on page 4-124 will be amended from "could" to "will." Paragraph two on page 4-123 will be amended to read as follow: "Solid waste collected in the planning area is presently disposed at landfills in Colton and Fontana owned and operated by the County of San Bernardino. As of December, 1988, the Colton landfill had a remaining capacity of 400,000 cubic yards and the Fontana landfill had a remaining capacity of 300,000 cubic yards. When these sites close, solid waste generated in the City will be transported to the San Timo- teo landfill also owned and operated by the County of San Bernardino. As of December, 1988, San Tunoteo landfill had a remaining capacity of 10,200,000 cubic yards. 3,689,800 cubic yards of solid waste are currently deposited there per year." The following sentence will be inserted into paragraph 3 on page 4-123: "The County is also currently in search of an additional landfill site." "Cumulative Impacts" of the Solid Waste Section will be rewritten to read as fol- lows: ''The Cities and Communities of RSA-29 are currently served by four land- fills: Colton, Fontana, San Timoteo and the City of Redlands. Projected growth in RSA-29 will result in the generation of approximately 25.9 million pounds (25,900 cubic yards) of solid waste per day (Table 19). The San Bernardino plan- "l ':\ C- . o <t ning area will contribute 11 percent of this total solid waste flow. Given the clo- sure of three County landfills in the relatively near future, the need for additional landf1l1 space and effective waste stream reduction methods should be an urgent concern." N121 The mitigation measures discussion on page 4-125 of the text will be amended to read as follows: "General Plan policies as identified in response to comment El address provision of adequate solid waste collection to serve the planning area. In particular Implementation Plan 7.27 requires the Oty to participate in the regional efforts of the County to undertake an analysis of land fill capacity and needs, and long-range planning for the provision of adequate land fill capacity to serve future population of San Bernardino County." The referenced planning for the provision of adequate land fill capacity will address the needs of the planning area It is a valid assumption to maintain that these long-range plan- ning efforts will result in the provision of adequate capacity for the planning area and consequently no further mitigation measures are necessary. The Draft Plan indicates further plans and policies to require the Oty to participate in the development and implementation of recycling programs both local and regional, to reduce the amount of solid waste that requires disposal. Specific policy num- bers are indicated in response to comment E1. NI22 The level of environmental significance discussion on page 4-125 will be amend- ed to read as follows: "Although short-term impacts could be potentially signifi- cant as discussed above, no long-term significant adverse impacts with respect to solid waste collection and disposal are anticipated that cannot be mitigated to a level of non-significance by policies of the Draft General Plan or the County solid waste management plan (Class m)." NI23 This section remains as stated in the text. "\':l' o o N124 "In the Revised (1983) Santa Ana River Plan stipulates that all wastewater treat- ment plants discharging to the Santa Ana River provide tertiary treatment up to a dilation point of 20 to 1 at any time the river is flowing continuously to meet these discharge requirements, the San Bernardino Municipal Water Department has proposed a Regional Tertiary Treatment System with a capacity of 43-48 mgd." Nl25 In the top paragraph page 4-127 the following information will be added: ''SBMWD has indicated that there has been no reported degradation of water quality resulting from the use of septic tanks." The following information will be added to the text of the EIR page 4-126: ''Sewer sludge is currently disposed of in area landfills. New sludge disposal requirements are in the process of being developed and are expected to go into effect in September. The SBMWD will comply with new sludge requirements when they are adopted." The first paragraph in the discussion on sewage disposal will be modified to read as fol- lows: 'Wastewater generated in the planning area (approximately 21.3 million gallons per day (mgd) in 1987) is treated at the San Bernardino Water Reclamation Plant (SBWRP) which is owned and operated by the San Bernardino Municipal Water Department. The reclamation plant currently meets all waste discharge requirements. The plant treats residential and industrial wastewater ed, " generat m: ... Nl26 Regarding the secondary impacts associated with the treatment plant, the text states that "these impacts will be identified during the environmental review process for specific developments..." The following sentence will be added to the first full paragraph on page 4-128: "In addition, an EIR for the Proposed Region- al Tertiary Treatment System has been prepared which identifies mitigation mea- sures for the identified secondary impacts." The following discussion will be added to "existing conditions" of the Sewage Disposal section: "The City of San Bernardino Municipal Water Department fol- "'~. o fJ lows industrial wastewater pretreatment regulations as stipulated by the EP A and by local ordinance. All proposed commercial and industrial projects are as- signed permit conditions which may include the need for pretreatment apparatus. Because the contribution of industrially polluted water to the waste- water stream is relatively low, the local ordinance which sets maximum pollutant levels (in milligrams per liter) for non-categorical (as defined by EP A) uses are not as strict as in other, more industrial, jurisdictions. However, federal statutes require review of local discharge limits every five years to assure that local limits keep pace with any increase in industrial flows." The following discussion will be added to "project impacts" of the Sewage Dis- posal section: "The tenfold increase in industrial land uses under maximum buildout of the Draft Plan will create a proportionate increase in the volume of industrial wastewater. However, regular review and tightening of the local reg- ulations will ensure that the resulting pollutants deposited in the total wastewa- ter stream do not reach unacceptable levels." Nl27 There are no policies in the Plan which specifically make compliance to the Re- gional Water Quality Control Board requirements a high priority. However, the permitting process of the Regional Water Quality Control Board is an effective way of ensuring that the Board's discharge requirements are met. Nl28 Information has been added to the text regarding sewage disposal in response to comments above. The level of significance will remain as indicated in the text. Nl29 The text will be corrected as indicated in the comment. N130 The second paragraph in the discussion of electricity and geothermal energy, page 4-132 of the Draft EIR, will be amended to read as follows: "Approximately 90 to 100 geothermal wells and springs have been identified in the San Bernardino area, concentrated around the Commercenter, Central City, Tri-City "\?:l AI III Il!1l o o areas and Norton Air Force Base. No complete survey has been conducted on the geothermal reservoir and consequently the quantity of geothermal waters available in unknown at this time. The State of California Division of Oil and Gas is currently in the process of classifying these geothermal production wells as being a "Known Geothermal Resource Area." As part of this classification, the Division will prepare information on reservoir capacity. The San Bernardino Municipal Water Department is currently operating two geothermal production wells which can pump and discharge 4,300,000 gallons of hot water per day per the City's NPDES permit. The geothermal waters are passed through a heat ex- changer and then discharged into the storm drain system. No chemicals are added to, or extracted from, the geothermal water. However, due to the high concentration of fluorine, the geothermal water does not meet requirements for drinking water. The City's NPDES permit allows the geothermal waters to be discharged into the storm drain system to Warm Creek and ultimately to the Santa Ana River. The discharge of geothermal water into the Santa Ana River provides a beneficial impact to the water quality of the river. The total hardness for the discharged water is approximately 30 mg/liter. The total hardness of sur- face water at the discharge point is approximately 200 mg/liter." N131 The following sentence will be added to the third paragraph on page 4-132: "Ac- cording to the Sue Noreen, regional manager for Southern California Edison, SCE will be able to meet this future demand without any additional power plants in the southern California area for the next 20 years." N132 The sentence at the top of page 4-133 will be removed from the text. Information stated in previous paragraphs will remain as it is. N133 The two sentences in the third paragraph, page 4-134 will be deleted from the text. "'~~ ,,; .II[ .J.. oW o o NI34 As indicated in the text, the information in the paragraph being addressed was provided directly from General Telephone and Pacific Bell. As indicated, tele- phone service will be extended into these areas according to the company's rules and regulations. N135 This section remains as stated in the text. N136 Information contained in mitigation measures relating to encouraging the use of tele-commuting will be removed from the EIR. The mitigation measures section on page 4-135 will be amended to read as follows:. ''No adverse impacts are an- ticipated to occur to communication utilities in the planning area as a result of . implementation of the Draft Plan. Mitigation measures for potentially adverse secondary impacts resulting from the construction of new communications facili- ties would be identified during the environmental review process or specific development proposal." N137 The level of environmental significance will remain as it is stated in the text. As indicated on page 4-135 of the text, secondary impacts associated with the physical construction of telecommunications facilities would be addressed dur- ing the environmental review process for specific development projects. NI38 The following paragraph will be added to existing conditions of the Police sec- tion immediately following the fmt sentence, second paragraph, page 4-137: Central (patrol) Station, located at 655 E. 3rd Street, is generally responsible for the northeastern and eastern unincorporated areas surrounding the City. A group of 35 sworn officers and 11 support personnel serve the unincorporated areas from this station. The Fontana station, located at 17780 Arrow Route in Fontana generally patrols the northwestern, western and southern unincorporat- ed areas surrounding the City. Staff at the Fontana station which serve these un- incorporated areas consist of 45 sworn officers and 10 support personnel. The following table summarizes activities at these two stations: "'I ':2lJ o 0 Central (Patroll Fontana Calls for Service Reports Taken Arrests 66,432 12,236 3,068 28,370 6,692 1,907 Services unique to the San Bernardino Sheriffs Department include a crime lab and a bomb/arson squad. ''The San Bernardino County Sheriffs Department prefers not to use an officer- to-population ratio as a standard by which to measure the need for additional of- ficers: Instead, the Department views the amount of pro-active (self-initiated) time an officer has during his/her shift as a measure of the need for additional officers. The ideal goal is 30 percent proactive time per shift (Harper, 1989). However, currently the deputies which serve the unincorporated areas are oper- ating with only five to ten percent of their time free for pro-active duties. Thus, in this respect, the Sheriffs Department is currently understaffed in serving the unincorporated areas near the City of San Bernardino." N139 Paragraph three on page 4-137 will be amended to read as follows: "Based on an approximate 1987 population of 140,851 persons, the City has a sworn officer-to- population ratio of 1.7 per thousand. However, as indicated in the Technical Background Report, the number of "calls for servii:e" rose by 102% between 1982 and 1987 to 172,BOO calls (San Bernardino City Police Department). Currently, the response time to these calls varies between 3 minutes and 1 hour or more, de- pending on priority (as determined by the Department's CAD System) and the current workload. Additionally, San Bernardino's Part 1 (homicide, rape, rob- bery) crime rate rose 11.5% between 1983 and 1986 (California Department of Justice, 21986) indicating the need for maintaining and improving the level of service. .,ac . o o The California State Commission on Peace Officer Standards and Training recommends that at least 33% of an officer's time or duty should be unstructured time where he/she is free to patrol in a proactive preventive manner. The City Police Department has recently completed a study which indicates that only 9.67% of their officers' time is currently available for preventive patrol activities. Based on this study, the Department must add 23 additional officers to meet the State's minimum staffing level for the current conditions in the City. This study and its resulting staffing recommendations has been presented to the Mayor and the Common Coundl and will be considered for approval along with the next Police Department Budget (Maier, 1989)." N140 The "project impacts" of the Police section will be rewritten to read as follows: "Should all unincorporated areas within the sphere of influence be annexed under maximum buildout of the Draft Plan, the City of San Bernardino's popula- tion could expand to 260,326, an 85% increase over the 1987 level. Development will also intensify, and both these factors will, in turn, increase the demands on police patrol, traffic and associated services. Given the current (1987) ratio of 1.23 calls for service per capita, the annual number of calls can be expected to rise to 320,201. As the number of calls increase, the amount of unstructured time available to the officers for preventive patrol will continue to decrease to an even further unac- ceptable level. Currently, Police Districts D and E (see Figure 11) share a com- munity office. The Police Department (Maier, 1989) foresees the future need for an additional office in the north and, pending civilian development of Norton Air Force Base, an office in the southeast. >> N141 The cumulative impacts of the Police section will be rewritten to read as follows: ''The cumulative population in RSA-29 is projected to reach 644,070 persons by the year 2010. Of the total cumulative population, 28 percent will be contributed by the City of San Bernardino. Based on a nationally accepted standard of 1.7 of- 121. o o ficers per 1,000 population, a total of 1,(l95 officers composed of both local police and County sheriffs, would be necessary for adequate police protection. Howev- er, additional personnel beyond the projected 1,095 officers may be required due to the fact that an increased crime rate can be expected with increased urbaniza- tion." NI42 The General Plan policies related to police protection do not specify or mandate maintaining a 1.7 officer/population ratio. However, policy 8.1.1 states 'The City shall maintain a complement of personnel in the Police Department that is capable of providing a timely response to reported criminal activity and can eq- uitably protect all citizens and property in the City." Associated Implementation Program 18.1 states ''The City shall provide the funding necessary to maintain a police force capable of providing adequate protection and criminal prevention services to the citizens of San Bernardino and their property. The City shall ad- here to established state and federal standards for providing public safety protection." Thus, the General Plan mandates adequate police protection, but al- lows the Department some freedom in determining appropriate standards, as the state and federal standards change through time. Nl43 Both sections of the document referenced in the comment are accurate as current- ly stated and require no corrections, NI44 The insertion of "(Figure 13)" will be made in the text as recommended. NI45 Third paragraph, page 4-141 will be amended to read as follows: 'The San Bernardino City Fire Department currently operates with a staff of 175 fire safety personnel (including five safety inspectors), 22 support personnel and 40 emer- gency vehicles including 11 fire engines, three fire trucks, ten water tenders and two paramedic squads. A 1974 study of the Fire Department resulted in the relo- cation of fire stations, which reduced costs and improved response times. How- ever, portions of the northwest quadrant, specifically the Verdemont area, are ., 'I' J D o 0 still beyond the average three-minute response time that the Department attempts to maintain for emergency services. In 1987, the Fire Department re- ; sponded to 13,911 calls for service: 2,952 fire calls, 10,456 medical aid calls and 502 special duty calls." No further breakdown by land use type is available. Nl46 The following paragraph discussing paramedic services will be added to the "ex- isting condition" of the Fire Protection section: "City paramedic services are pro- vided by a staff of 30 paramedic personnel, two paramedic squads and two para- medic engines. The two paramedic squads are located at fire stations #2 and #4. The two paramedic equipped engines are located at fire stations #6 and #11. The City Fire Department is currently evaluating its paramedic program because of the delayed response caused when its two paramedic squads are responding to other calls. The need for additional paramedics as well as relocation of existing equipment has been identified by the Department (Knight, 1989)." The following statement regarding other fire hazards in the community will also be added to "existing conditions" of the rll'e Protection section: "In addition to the wildland fire hazard present in the northern portion of the planning area, in- dustrial hazards exist as well. In the northwest quadrant, one plant which manu- facturers and handles styrofoam is considered to have a higher risk as are the manufacturers in the southeast quadrant who handle hazardous materials and operate dust collection mechanisms." N147 The "project impacts" portion of the Fire Protection section will be amended to read as follows: 'The Draft Plan will accommodate a 34% increase in housing units as well as 300% and 900% increases in commercial and industrial uses, respectively, over 1987 existing uses. Based on the 1987 ratio of 98.7 calls for service per thousand population, it is projected that the annual volume of calls could reach 25,694 at full buildout of the Draft Plan. This would result in a probable increase in fire service response times, and particularly in the northwest quadrant, portions of which are currently beyond the average response time, ... ~ o o where the greatest amount of new development is expected to occur. To maintain response times within acceptable levels, the Oty Fll'e Department has determined that the following equipment and personnel would be required (Knight, 1989): A new station in the Verdemont area with one engine and one water tender, two additional engines, one ladder truck, three additional paramedic squads, one hazmat unit, 76 additional safety personnel and 11 support personnel. ''Expansion of housing into the foothills of San Bernardino and the corresponding increase in fire sources may be expected to increase the incidence of wildfires in open areas. In this way, the housing increase in the unincorporated areas of the northwest quadrant, particularly the 1,688 additional homes in the Hillside Management Area, have the potential to impact the California Department of Forestry and the Central Valley Fire District's Fll'e Services. These and other entities which have joint mutual response agreements with the Oty of San Bernardino may have to respond increasingly to calls in San Bernardino's planning area. However, were the unincorporated foothill portions to be annexed by the City, wildland fire suppression and prevention would become the sole responsibility of the City (Miller, 1989)." Nl48 The change from "will" to "have the potential to" will be made as recommended (refer to response N147). The "cumulative impacts" section of the Fire Protection section will be rewritten to read as follows: "As residential, commercial and industrial development increases in RSA-29, the demand for additional fire protection and emergency medical aid will increase proportionately. Because the San Andreas Fault scarp runs along the northern boundary of RSA-29, the hillside areas of the San Bernardino Mountains are largely excluded from this SCAG study area. Therefore, the added risk of increased wildfire hazards due to development in hillside areas will not be a direct concern in most of RSA-29." ... .,c J" c o N149 The Oty's "high fire hazard" line does not correspond with Greenbelt Program Area B in Figure 14. The City line was drawn based upon the path of historic disaster fires, whereas the Greenbelt High Hazard Area circumscribes the foothill area with a slope between 6% and 30%. For clarification, the sentence on page 4- 144 starting with 'The Program delineates..." will be replaced with "Based upon planning theories which relate steeper slopes to increased fire hazard, the Program delineates three different hazard areas (Figure 14): A) slopes greater than 30%; B) slopes between 6% and 30%; and C) slopes less than 6%." "Existing conditions" will conclude with this statement: "The City has also adopted by ordinance a "High Fire Hazard line" (Figure 14) which is based upon the historical and probable paths of past disaster fires." N150 Specific policy references are included in the text in response to comment El. Policy 8.3.1 (among others) does implement effective fire protection mitigation by stating "Assure that adequate facilities and fire service personnel are main- tained ... by providing adequate funding." N151 In the Draft EIR, a Class IT level of significant for Fire Protection was determined. This assessment remains valid given that the General Plan's Policy 8.3.1 and Implementation Program 8.13 are effective mitigation measures. N152 The "area" referred to in the text is the planning area. The word "planning" will be inserted into the text for clarification. . " . N153 A map depicting schools and school district boundaries, to be denoted as Figure 14B, will be added to the Education section. NI54 The following statement will be added to the "existing conditions" of the Education section: "By July 1, 1989, a total of 11 elementary schools in the San Bernardino School District will be operating a year-round enrollment program to ~"IO ) en w - a: < C z ~ o In I- o -en a:w 1-- aD en !: ~ --' ~ C_ -,0 W 0< , a: 01&- ! ~ :l:C . CJ oz Iii: (/)< -- illlL o - O.H- .. J! .. 1Il '0 C '0 ~ C 0 · In o '0 J! '0 '0 0 o. 0 O.c -O.c s:o ~cau ~(/) ,!a.(/) .-0.0>- >- .. .. Ji .. ....!I,g..s C 1 ~ J.i i · ~ ~.e E E . j 5c J! .!I i :l: Zo W ......~ I ,-, 1_,'\ I " I I" -, I , I , I I r -'lit I I " ." ---... I- I L__., IS'."'IY I , I I I , ,-- I ................., : l~ . , : ,..--- : I ......=J . --I . r_, ~------- I :! I _ !!, 1: Ii . ~ ~ 0; . .. I I \ "'--1 ,..1 I l__ !...- I " -, .- .- .- " ~, I '-__, I .....___ , , ---- r--'" r- I 1._ ,_J I , I I I I I 1- _I _, ...... ~....... ~... ..' .r.-~' .' ............ '. . . .. . . . ...... { 1"- I I I -, I I /'__1 I , " (...'-...~ " L._, .0 Jije ~l' I IS IHcled .J 0; ;; ~ . ~ 3-73 ".., "I -~i I =~I =01 ~zl <: o j:::; ~ ~ 8 ~ ~ :s as c .2 I o o ~, .51' > c W ;;. .a " t o UIil o o 3-74 ..\ . ',~ ; -'. ~ .,2'-12. o o alleviate school overcrowding: Alessandro, Emmerton, Hunt, Lincoln, Lytle Creek, North Park, Riley, Thompson, Mt. Vernon, Lankershim, and Kimbark." This statement will open the third paragraph on page 4-148. The existing opening sentence "To alleviate school..." shall be rewritten to read "All three school districts plan to reopen dosed schools and open new schools as well as initiate additional year-round schools." Regarding the feasibility of new school openings, the point is made in the Draft Plan (bottom of page 4-148 to page 4-150) that funding is limited. N155 The second paragraph in the "existing conditions" of the Education section, regarding School District Capacity will be rewritten to read as follows: 'The San Bernardino City Unified School District uses Functional Maximum Capacity (F.M.C.) as its standard for determining which schools are significantly impacted by over-enrollment. F.M.C. is based not only on the physical capacity of the classrooms but also the capacity and availability of other equipment and services which are part of a quality education (Shira, 1989). In the 1987-88 school year, the following schools were over-enrolled based upon their individual F.M.C.: Belvedere, Burbank, Highland-Pacific, Kendall, Kimbark, Lankershim, Rio Vista, Thompson, Urbita and Warm Springs elementary schools; Shandin Hills intermediate school; and San Bernardino and San Andreas high schools. Overall, San Bernardino District elementary schools reached 99% of their enrollment capacity. Intermediate schools were enrolled to 83% of capacity; high schools at 93% of total capacity." The sentence that starts "In both San Bernardino" will start a new paragraph and be rewritten to read: "In the Rialto Unified School District, several individual schools are at or beyond capacity and the additional students are sent to other schools in the District." The paragraph will conclude with the existing sentence "Colton Joint Unified..... ...... . - c o NI56 The following paragraph will be added to the "project impacts" of the Education section: "Based upon school planning ratios of approximately 600 students per elementary, 1,000 students per intermediate and 2,200 students per high school (Shira, 1989), the 14,168 additional students will create the need for the equivalent of an additional 13.0 elementary schools, 3.2 intermediate schools and 1.4 high schools. The total student population of approximately 49,300 at maximum buildout of the Draft Plan is accommodated under the San Bernardino City Unified School District Ten-Year School Construction Plan (Figure 15). According to this Construction Plan, this future student population can be accommodated given the opening of an additional 8.5. elementary schools, 3 intermediate schools and 1 high schoo!." N157 The Technical Background Report prepared by Envicom Corporation in March, 1988 was incorporated by reference into the Draft EIR on page 1-5. Table 48 and Figure 50 from the TBR will incorporated into "existing conditions" of the Parks and Recreation section as Table 20A and Figure lSA, respectively (see following pages). The sentence starting" Of the 40..... shall be rewritten to read: "Of the 40 developed parks and recreational facilities in the City, 13 are neighborhood parks, 6 are community parks, 3 are regional parks and 18 are mini-parks or special facilities (Table 20A, Figure lSA)." With regard to joint-use sites, the sentence starting "In addition, the City..... on page 4-153, shall be removed and replaced with "In addition, the City has two joint use sites with San Bernardino City Unified School District for additional recreation space. These joint use sites are 12-acre elementary school sites purchased and managed jointly by the City and the District. Currently, the two schools, Mt. Vernon and Rio Vista, are available for public recreational use after 4 p.m. on weekdays and on weekends and holidays." ,:) 14 &I o o g~ * * -c '" w Cl ia: Ii: II: il: ~ -c '" li~ ! g ~ 9 '" w i 9 II: 0 -i= ~ 8 * '" ~ II: 9 :J :::l w w -c ~ U ~ '" ~ ii: ::I -c lil w 8 Jtiln 0 m {I) I i2 -' 0 w w (!l :::l ~ ~ :I: ~ ili ... ~ -' z '" '" ~ ffi ~ I u ~ w ::l i '" 5 ::I ~ III W !.l u !12 ~ w ~ ~ 0 '" w Z u &l i II: ~ '" ~ ~ I~ II: ~ Z ::;) ~ ~ ~.i:oz'" ;:; ~ ~ is -c ~ u Q i llJ I!! ... :I: ii: Q. AL GUHINIVERIlEMONT 3ll5O LITTlE lEAGUE I U 21.0 BUCKBOARD PARK U 15.0 BUCKIIClARD AND I<ENlALl 2 HUllSONPARK N . . . . . PARK DRIVE ANDWNlSOR 3 10.1 BlAIR PARK . . . . . . 1400 W. MARSHAll. BlVD. 4 C 34.0 31 HUCREST 5 550 HILl DRIVE S 1.53 40TH STREET PARK S .51 . . 40TH AND aECTRIC I NEWMARK FIElD S . . 3m! AND PERSHtIG 7 5.oz 1l SIERRA PARK 1 S 1.13 3IIlO SIERRA WAY WUl'NOOD PARK . . . . . 4OTHANDWATE_N C 24.2 . 3L HORN: PARK 10 . . . 3OTHANDWATE_N N U. MITCHELL PARKiHARRlSON CANYON . 38TH AND GaDEN II N 1.0 . . . I SONORA TOT lOT 12 .17 . 3ttO SONORA STREET S DEL VALlEJOIAOUlNAS 13 N 1.0 . . . . . STERlING AND L YNWOOD I PATTON PARK 14 . . PACFIC AND ARDEN . R 10.0 5 PEARlS HILl PARK 15 R 14.5 . . . . . . . . . . r.o7 E. HIGKNlD 2\ , PAlM FIELD II S 22.3 11 III E 8TH STREET NORTH NORTON CENTER 17 S . 24424 MONTEREY CENTERS FOR INDlVOJALS WITH 11 S . . . . OISA81.ITIES 8011 PAlM lANE MU CENTER t. C 14,4 . . . . . . . . . 503 CENTRAL I CAMPO SANTO MEMORIAL PARK 20 S 5.0 27TH AND E STREET TABLE J.,OI\ CITY PARKS AND RECREATION FACILITIES * L - Number Ughted Compiled by: ENVICOM CORPORA TlON '_SUI: "~I .'" . ~ dLfCj :... .' CITY PARKS 9z * AND ~& *< io: '" w Cl RECREATION lr a: z ~ < c '" ~ is S '" w FACILITIES f"o ...J C a: c E (,) 5 ...J W a: ~ g 111M * Q. ID W '" .... < 9 :I ~ '" ...J u: ::I! w < ...J al ~ (CONTINUED) :i. VI ?; 0 w w w g c z ~ ::::l ...J :I: ~ :I: u: Cl ~ ~ ...J ID It! z !i.! ;;i '" ~ ~ z w .... a: ~ '" u: W ::::l ID ID W !.l (,) w 2 '" ~ Cl ~ W ...J " 9 ::I! 8 z c '" Z ... (,) ld ::I! Z z ~~.~~ Ol~ a: ...J i ::I! ::I! z a: w z ::::l Q ~ c ~ ~ :i: 8 l; < 0 " (,) (,) ~ z ~ :5 :I: Q. l!! ... a:uzrn ::::) (,) ... :I: :I: ii: ii: '" '" SECCOMlIE lAKE PARK R . . 8TH AND LUGO 21 82 21 . . . MEAIlOI'o9ROC1< PARKMERNANDEZ 22 N 1..1 . . . . . . CENTER 2ND AND SERRA WAY . . MEAllC7MIROOK FElD HOUSE AND PARK 23 N ..81 . . . . RIALTO AND ALLEN 11 COla<< PARK 2. S 3.0 WEIR RCW) AND HERITAGE DRIIIE ;1 . CUlTURAl. CENTER 531 W I lTH STREET 25 S 1.38 . PKN:ER PARK 8TH AND E STREET 28 N 5 . SENIOR CITIZEN SERVICE CENTER 100 W 5TH STREET 27 S .5 DElMANN HEIGHTS COMMlMITY CENTER 291a FLORES 2. C la.l . . . . . . . 1L WESTSlOE DROP -IN SITE CENTER S 2002 N Mr. VERNON 2a RIO VISTA CAliFORNIA AND BASELINE 30 N ... . . . . 2L GUTIERREZ FIELD 1. TH AND Mr. VERNON 31 S 1.85 . . 1L JOHNSON HAll 801 WLSON 32 N 5.5 . . . . . . . 1 ENCANTO PARK 1180 W ffH STREET 33 N 8.13 . . . . 2L ffH STREET PARK ffH AND GARNER ,. N 3.1 . . GUADAlUPE FIELD 8TH AND ROBARDS 35 S 2.25 . LA PlAZA PARK N 7TH AND Mr VERNON 3. 2.0. . . . NUNEZ PARK C 1717 W 5TH STREET 37 22.0 . . . . . . . . . . . 3L NICHOlSON PARK N a.5 2737 W 2ND STREET 3. . . . . 2L LYTlE CREEK PARK 380 S K STREET 38 C 17.a . . . . . . . . . . . 1L PARK/STRIP GREENBELT .0 S STERLING AND GREENWOOD HAMPSHIRE GREENBELT S HAlAPSHlRE AVENEUE ., 5.' SAN ANSElMO TOT LOT S <2 .23 . MESA AND SAN ANSElMO lL o - . * L. Number Ughted Compiled by : ENVICOM CORPORATION JI/ltJ o o : -~ (/) w E -' 0 < u.. Z ... 0 ~ i!! .. '" i= ll.. ~ < i!! .. '0 W .. ll.. 0 U a: ll.. !:' 0 0 .c .. Oi C ~ u.. W :> .8 Oi ~ a: c: E 0 .c U 0 os. E Cll Qi Q) z Q) 0 Q. < a: 0 z (/) w (/) a: :J :0:: ....... a: . CJ < u: ll.. ~, , , , ---I , --- 1 r--'" r----"'j I., j_J I , J , I.J I ~I -' ,"- 1 , , -, 1 " ,/'-_/ \ J t,_ ,~ , v " 1 -~ , " -, " " " " =~ - CD .,- Q) :c <II I- .5 o - '0 JI) ~ ~ Q) - Q) ~ e <II '" ~ Q) .c E :> z - . _0 I 'Jz I :2: o i=::: ~ o 8: 8 ~ ~ ::s ~ ." eA. ~~ , 1----... r~/1 _I I ''''1 \._-, ;r7 , -. I , I, ------j I , , I I , ,-- I , '''Y Illl'd IStlll.l, 0; ~ " o 9 . ii . 9 ~ ;; . ~ ~AV 1'101" I " . , ,1 .., , u.. ,_ -, , ,...,/QU'" !J. , \ ..~ I ,- A L_..." -., - lA, U.....I.M . r - ,- L J hyoq''''tf ---., r y- .. . . " 1"1 1 , , r --j' I, , I IlIHcl1d '__1 c: .2 i! ~ o o E ~ w .' z I . .. " :i ~ 3-90 .!- ~ .. 0 ! Jl/~: I , o o NI58 The first paragraph on page 4-154 will be amended to read as follows: 'The City of San Bernardino currently provides 521 acres of developed parks. This equals 3.7 acres per 1,000 population; .9 acres of neighborhood parks per 1,000 population. This indicates a shortage of 182 acres based upon standards discussed above." N159 The following discussion will be added to the "project impacts" of the Parks and Recreation section. 'The Draft Plan Land Use Map cannot designate future park sites because of the legal ramifications of inverse condemnation. However, Plan policies and programs provide for acquisition of parkland in response to City growth." (See response to Comments El, and Nl't.) The sentence on the bottom of page 1-154 which starts" The programs include..." shall be partially rewritten to read: 'These programs include the preparation of a comprehensive master plan of parks within three years of adoption of the General Plan which identifies existing sites to be improved or expanded as well as target acquisition locations for future parks (19.1); determination of neighborhoods...". Social services are summarized in the second paragraph on page 4-154. N160 A detailed analysis of park facilities and acreage in RSA-29 is not within the scope of this General Plan EIR. N161 Specific policy and implementation program references have been added to the text as indicated in response to comment El. It is appropriate that the acquisition of parkland is deferred to the future, as the need for parkland is generated in re- sponse to City growth. The General Plan does provide concrete mitigation to- wards facilitating Objective 9.1 to provide park facilities to meet the needs of ex- isting and future residents, including 182 acres to offset the current deficit and an additional 325 acres for projected population growth. In particular, Policy 9.1.8 requires the City to establish a recreational greenbelt system linking the river and ;'UQ. o o drainage corridors with the mountains. Policy 9.1.9 requires the City to establish an equestrian trail system along the foothills of the San Bernardino Mountains. Policy 9.1.11 requires the City to acquire and develop properties as mini-parks where it is not feasible to acquire sufficient acreage for neighborhood parks. Pol- icy 9.1.12 requires that new parklands be dedicated as a part of new residential subdivisions, unless it is the objective of the City to serve the subdivision at an al- ternate location, in which case in-lieu fees shall be provided. Several other policies also exist which clearly require the City to provide the necessary mitiga- tion to the existing parks and recreational system to meet the objectives stated above. N162 See response to comment Nl.&l above. N163 A map of plant communities will be included in the text. See response to comment N164. N164 The figure shown on the following page will be added to the EIR as Figure IS.!. This figure indicates existing plant communities within the City's boundaries. Areas with significant plant/wildlife habitat value are included in the Biological Resource Management Overlay to be added to the text as Figure IS,f, in response to comments dated April 14, 1989 from the City of San Bernardino Planning De- partment (see Comment G) (see following pages). As indicated on page 4-157 of the Draft EIR, a more detailed discussion of the status and locations for the plant resources referenced in the comment can be found in the Technical Background Report. As discussed earlier in the EIR, that Technical Background Report is incorporated by reference in the EIR. Page 4-157 of the EIR will be amended by the inclusion of the following sentence at the end of the first complete paragraph on the page. ''Figure IS!. indicates the location of known sensitive elements as listed below." The following information will be added to the existing conditions discussion for Biological Resources: ''Federally 2Y't i II . ~ m ~ ~ 3 &> "8 ;; il =: 0 ::J 0 '. o ~ !! ~ ;;: " .. p..,., St :--L --,: ., " ..L_ ~ . . ~ !! :..r R.IIC"'. A.. , , W.ttflllln Ave , " " I ,-, -I, '" \ 1 Ti ,c'I'IQAJA", I c J' _~... , , -, ~ I ~ .. -, !if o I 0 :;. ---- '- ,-- t__ -I , ." Sterlin 1 -=, " , "-I " Wittoll, Av. ~ .. !! ,,11ft Av. . . G . ~-~ J , , I ,~I - E ~ .. . !!^ '" L..__ i!; .......... .. -' :. .,,' .. .' :.,. --. ,- ,- r' -, ... , ,- , I , ,-- , , 1 , , ~------ " r ~~ i R tJJ L J f :;I'.c-_J f I j II I, ,--' J ji \,l_, '_J ii ... o o G , ",--.....'1 ) \ /_-...,1 I , I- I , 1 _,I ,~ ,- -, , " I I, I r-I _... L.____J ___.J , ---- , 1__- , " '" ,- ,- ,- ,- '- " , I fJ....-1__J . :; , .. I (It , ../--------! - ,- , r:....-j II : ---~ : , . ..., : , ' ~_.._.__..-.-._._.. c;:--...CltUl..WN-f IHHUJII htifi}tt .. :II I ... < .... n ",( Ii f : iiilf ~i t jifl' II r ii'lll all... i" [!' If.i f i~ I- J. f II . ~ z o == z CI> m z CI> ::j <: m m .... m ~ m Z .... CI> "TI C5 c: :u '" 111 D> .. . a " : , ~ a ;; ~ Al.bI_. 51 ~ R 8 :g ~ > :::! ~ z~ 0_ . ~= 1,= I I I d~O o ;; I i1lJ fr tl f ~,.:--! r. f ,._" f:f~:;:' . ..~<~ r~?,.,..., f1 ,..' t..w~ 1 .;c""" im :;:::;':'-::::'t-p:; . .,'., "alC" Ave ;:... i::::~': ~1~:::::~~r:', ~r . , _i..;:;:::*~J ~~ ..... .~;. I 1- .:::::::~: .. ...; '''1':.... ~.. _I . ~,. ::i ~;;:}' -, . ,., .. fr. .JM~,~:" <<~ ~I I . "";': _J.,}_ r-;mj- :.:-: :. .. :~:::: :.... ',' ... "'''4' n.. , IIIl1n AM dtk, .. . '" . . . . ~ ~ ~ () o ~ 2 )i a ~ :Iz~ , ! ;; A.a".. . Pal. Av. . ~- I: l~= o III-r- ... _Zo i5 ~1I O:lln .;',,;. C .... r-rn)l- :II O~:::I rn I ~g C):::IO .. "OZ ~. 0' i'iij ~zo G i~ :II~'" i rnon en c o :II :II = C :II I :II rn i.::l : ~ i .< 01 )I- ':2 i ia ~ ~ i 'j C) G ; ~ I rn i !i . !i ~ ll' ~ ~ !II ~ it Z ~ S 0 'C en "'~. ~ " o o endangered and candidate species located in the subject area are indicated in the following listings in the code FE, Fl, F2 as explained in the footnote to the listing." N165 The following information will be added to the last paragraph on page 4-161: "Direct loss of wildlife habitat will occur as a result of urban expansion. All of the approximately 12,000 acres currently (1987) vacant in the planning area are designated for development per the land use map (Figure 4). It would be assumed that almost all of this acreage would be lost as Wildlife habitat (this acreage does not include the approximately 4,500 acres of existing flood con- trol/ open space use). As a result of this increased urban use and loss of these segments of habitat, remaining pockets of flood control/open space will become islands of native fl0ra and fauna. This fragmentation will result in increased competition and impaired genetic transfer, and eventually lead to a new equilib- rium with decreased species abundance and diversity." The following information will be added to the EIR discussion of impacts on biological resources: "In addition to the conversion of vacant land to residential commercial and industrial use, the Plan designates mineral extraction in the in- dustrial extractive ("IE") land uses in the Cajon Wash area. This land use desig- nation occurs primarily southwest of Cajon Boulevard between Interstate 15 and the Cable Creek Flood Control Channel. Encompassed in the "IE" designation is an extensive area of the sensitive Riversidian Alluvial fan sage scrub identified by the California Natural Diversity Database and mapped in the Verdemont area plan. Also included in the area designated "IE" is at least one known location of the federally endangered Santa Ana River Wooly-Star and one location of the Slender-Homed Spine Flower. Plan implementation would be expected to result in the direct loss of sensitive habitat and examples of federally endangered plant species in those areas of "IE" permitted uses. This impact in conjunction with other permitted uses, such as residential and heavy industrial, in areas where these species and sensitive habitat are known may precipitate their eventual ~~~ o o extirpation from the plan area. General loss of wash habitat (whether from '1E" or other uses) is expected to negatively impact some federal candidate species of animals such as the San Diego Coast Homed lizard, the Orange-Throated Whip Tail lizard, and potentially several birds of prey." The following information will be added to the mitigation section for biological resources: "Policy 10.6.2 of the Draft General Plan states: 'Require that mineral extraction projects mitigate impacts to endangered plants according to the Mitigation Policy and Guidelines Resarding Impacts to Rare. Threatened and En- dan~red Plants developed by the California Native Plant Society Scientific Ad- visory Committee (January, 1988).' The document referenced herein is a policy statement for the California Native Plant Society whose goal is to 'prevent de- cline of rare plant species and their habitats, and to ensure that rare plant mitiga- tion measures are adequate to serve their intended purpose - the conservation of rare and endangered plants: The Society endorses mitigation concepts listed in CEQA. The types of mitigation for environmental impacts listed in CEQA (Sec- tion 15370) are as follows: (a) Avoiding the impact altogether by not taking a certain action. (b) Minimizing impacts by limiting the degree or magnitude of the action. (c) Rectifying the impact by repairing, rehabilitating or restoring the impacted environment. (d) Reducing or eliminating the impact over time by preservation and mainte- nance operations during the life of the project. (e) Compensating for the impact by replacing or providing substitute resources or eI:1vironments. ~~~ - o o These mitigation measures are not always appropriate to mitigating rare plant impacts. Of the five mitigation types above (CEQA) the Society fully supports those which avoid net reduction of population size or species viability. Avoid- ance of impacts can be accomplished by 1) pre-project planning and design; 2) reconfiguring already designed projects; and 3) adopting the no-project alterna- tive. Additional measures may be necessary to secure protection in the form of open space - or conservation easements, or 'transfer of development rights,' as are described in Appendix B of the Native Plant Society Mitigation Guidelines. Each of the other mitigation alternatives included in CEQA involve acceptance of reduced impacts and/or use of transplantation artificial propagation, seed trans- fer or habitat restoration, which are generally deemed inadequate by the Society because they compromise the purpose of mitigation: To fully offset or reduce significant impacts by allowing net losses of populations or habitat, or, they rely upon unproven technologies. The Society does recognize that where such losses are allowed or are deemed un- avoidable, off-site restoration, compensation, transplantation or other salvage methods should be attempted to enhance degraded populations or provide for partial survival of the sacrificed population. The Society's guidelines discuss the following mitigations other than avoidance: 1. Reducin~ Impacts: Partial avoidance by locating projects in the least environmentally sensitive areas. 2. Restoration: Used to mitigate projects approved prior to environmental regulations of those allowed through a 'statement of overriding consider- ations.' ~<u - J BbL ~ .. 4. ..t. o o 3. Reduction Over Time: Control uses of public access by fencing or staking to prevent accidental encroachment on protected habitat for projects where po- tential for secondary impacts due to human access exist. Conservation or open space easements should be considered to implement this measure. 4. Off-Site Compensation: Compensating by protecting substitute resources may be useful where other alternatives cannot be applied. Mitigation plans, agreements and contracts must be clearly documented. Oear criteria should be included in the agreement to determine the condition under which mitigation measures are to be considered complete or successful." Nl66 The paragraph in question on page 4-162 of the EIR will be modified to read as follows: "The net result of these impacts would be to reduce the extent and di- versity of the existing biological resources, replace these resources with a habitat typical of an urban environment, and potentially interfere with movement of res- ident or migratory wildlife species. These impacts on biological resources are considered to be significant." N167 The referenced text has been amended to indicate specific policy and implemen- tation program numbers in response to comment E from the City of San Bernar- dino Planning Department, April 10, 1989. The following discussion will be added to the text of page 4-162 of the Em: "Implementation program 110.2 pro- vides for mitigation, when needed, of impacts to biological resources on a project by project basis. This is accomplished by a revision to the City's Development Code to incorporate procedures for environmental evaluation of proposed projects in the Biological Resources Management Area, and specifications for the documentation of environmental resources, impact assessments and mitigation measures, when required." a5S - - -~ J.. .J:.. J .ill e . Nl68 The subparagraph in question on page 4-163 will be amended to read as follows: "Attempt to halt further loss of two federally endangered plant species in the floodplain by requiring assessments, mitigation, and by restricting off-road vehi- cle use as indicated in implementation plan 110.2." See response to comment N167 above. N169 The text has been revised to indicate policy and implementation program num- bers in response to comment E received from the City of San Bernardino Plan- ning Department, dated April 10, 1989. The fust sentence in the first full para- graph on page 4-163 will be amended to read as follows: "The Draft Plan's poli- cies and programs referenced above attempt to provide safeguards for sensitive biological elements beyond that of existing state or federal legislative mandates by requiring adequate and rigorous individual project review and mitigation of impacts as indicated, particularly in implementation plan 110.2." The subsequent sentence in the same paragraph will be amended to read as follows: "For exam- ple, the Federal Endangered Species Act provides no protection whatsoever to plant species occurring on private land unless they are involved in projects re- quiring federal approval or funding." The last sentence in this same paragraph will be amended to read: "In this respect, the Draft Plan's policies establishing project review and conformance to development standards within the Overlay Zone are ahead of current legislation in addressing the issue of preserving bio- logical diversity at the local level." Also, see response to comment N-165. N170 The following discussion will be added to the cumulative impact analysis on page 4-163 of the Draft EIR: "Although the exact location of future project buildout and associated loss of biological resources is not known at this time, it would be reasonable to assume that cumulative impacts would include the in- terference with the movement of resident or migratory fish or wildlife species. Impacts of cumulative buildout on biological resources would be expected to be significant." .3<1.. _ JIlL o o Nl71 The sentence in question will be amended to read as follows: "Even with all of the Draft Plan's policies and programs relating to biological resources implemented (policies 10.1.1, 10.21-10.26, 10.3.1-10.3.4, 10.4.1-10.4.3, 10.5.1, 10.6.1-10.6.3, and programs 110.1-110.9), impacts to biological resources will occur." The following discussion will be added to the first full paragraph on page 4-164: "Additionally, policy 10.4.1 addresses the feasibility of establishing open space corridors, policy 10.5.1 addresses the identification of habitats of sen- sitive fish and makes recommendations for preservation/enhancement, and poli- cies 10.6.1-10.6.3 require rare plant surveys and mitigation of impacts to endan- gered plants due to mineral extraction projects." Nl72 The first sentence in the first full paragraph on page 4-164 will be amended to read as follows: ''The Draft Plan's policies and programs, while they cannot pre- vent development of parcels with sensitive biological resources, should nonethe- less minimize any adverse effects on biological resources by requiring that the Oty's buildout be rational and cognizant of its biological constraints." Nl73 This issue is clarified per the response to number N174 below. N174 The bottom paragraph on page 4-164 will be amended to read as follows: "In order to assure an adequate assessment of biological resources during the Initial Study phase of project review, the Draft Plan's implementation program 110.1 should be amended to include: ..." The remainder of information referenced by this quote is provided on the top of page 4-165. N175 The following information contained in Section 4.3.1.5 in the Draft EIR will be deleted from the Level of Environmental Significance discussion and added to the Project Impacts section, page 4-163: "Because the Draft Plan does not uni- formly impose project review and design standards over the project area, those areas outside the identified Biological Resource Management Overlay (BMR) do not receive the increased level of protection afforded therein. Consequently, im- '\c:. ~ .It .L M o o pacts to previously unrecognized biological resources could occur outside the BMR, especially if the Initial Study should fail to identify potential impacts." Section 4.3.1.5, Level of Environmental Significance, will be amended to read as follows: "The implementation of the Draft Plan would result in the direct loss of wildlife habitats due to urban expansion as well as the indirect loss in the quality of remaining wildland habitats as a result of increased human-related activities within and on the edges of open space due. Fragmentation of habitat cannot be completely mitigated. Implementation of the proposed project would result in a Class I level of significance (i.e., some impacts of project implementation are ex- Pected to be significant and not avoidable within the scope of the project)." N176 The concerns raised in this comment have been resolved per the response to comment N175 above. N177 The sentence in question will be amended to read as follows: "Air contaminants monitored at San Bernardino for 1985-87 are shown in Table 21." In addition, the abbreviation for nitrogen oxides in the previous sentence will be corrected to read "(NOx)". The values in question in Table 21 have been reconfirmed. Source: South Coast Air Quality Management District and Systems Applications, Inc. (1988). Urban Air Toxics exposure model: Development and Application. Multiple Air Toxics Exposure Study. Workinl1 Paper No.3. Research Triangle Park, NC:U.S. Environmental Protection Agency, Office of Air and Radiation. N178 The paragraph in question directly addresses the issue of fugitive dust. To clari- fy this matter, the discussion will be amended to read as follows: ''During grad- ing, retrofitting, new construction or aggregate mineral extraction, air quality impacts would primarily occur as a result of fugitive dust. Fugitive dust is gen- erated during grading and aggregate mineral extraction and as emissions from construction vehicles. Activities generating fugitive dust are exPected to take place in various locations throughout the Clty of San Bernardino. Fine particu- ""~~ o o late matter (PMlO), including fugitive dust, can be expected to increase with in- creased construction and aggregate mineral extraction. Construction activities (whether construction of land uses or supporting infrastructure) would increase PM10 levels in the short-term and would be a nuisance to the immediate and sur- rounding area. Aggregate mineral extraction would generate fugitive dust (and therefore PMlO) for the lifespan of the mining operation and could also be a nui- sance to adjacent land uses if not appropriately mitigated (see Section 4.3.4, Min- eral Resources). In addition, the second sentence on page 4-167 will be amended to read as follows: "The South Coast Air Basin is a non-attainment area for ozone (03), carbon monoxide (CO), fine particulate matter (PM10 includes nitrates, sulfates, and dust particles) and nitrogen oxides (NOx)." Nl79 The following information will be included in the air quality impacts discussion: "Objective 10.10 of the Draft Plan states that it shall be the objective of the City of San Bernardino to reduce the emissions of pollutants including carbon monox- ide, oxides of nitrogen, photochemical smog, and sulfate in accordance with SCAQMD standards. The phrase 'in accordance with SCAQMD standards' indi- cates that the City would comply with these measures assigned to local jurisdic- tions for implementation." N1BO The following information will be added to the last sentence on page 4-172" ''Industrial sources will analyzed for the potential emission of toxic or hazardous air pollutants on an individual basis per the CEQA environmental review pro- cess." N1B1 Specific policies with respect to air quality have been identified in response to comment E1. Implementation of the General Plan would alter the nature of the planning area's jobs/housing balance from that of a net exporter of workers to that of a net importer of workers. Air quality impacts related to travel distance will still exist (see response to fmal comments after comment "V".) __A - o o N182 The sentence in question will be removed from the text of the EIR. NI83 It is correct to indicate that Mount San Gargonio is the feature which dominates the East Valley. Mount San Bernardino dominates the views related to the East Valley. Nl84 The first sentence in the third paragraph, page 4-179, will be amended to read as follows: "The City's broad arterial streets (e.g., Foothill Boulevard, Base line Street, Highland Avenue, Mount Vernon Avenue, Sierra Way, and Waterman Avenue) are aligned in a north-south/east-west direction and provide major view corridors which frame distant views of the surrounding mountains." NIBS The text will be revised to refer to "Sterling Avenue." Nl86 The paragraph in question will be amended to read as follows: "The foot- hill/ canyon zone is important as a scenic resource in that it represents a steep open space area that has, because of its inherent slope constraints, remained largely undeveloped. This has left a major portion of the zone in its natural state containing numerous canyons and ravines that support a variety of native biota. However, several foothill/canyon zones have been developed. These include development at the end of Victoria Avenue, on Holcomb Hill, and at the end of Del Rosa Avenue. Substantial disturbance has occurred in some areas with isolated hillside scarring." N187 The text will be revised to indicate that surface water does not flow all year round in all portions of the Santa Ana River. NIBS Figure I5~will be added to the text to highlight those locations being discussed in the text. ~-^ o c, -~ ""'\ " J 0 ,.. .- OIl'" .... 00 w ~..; - , a: O~ .. ::::> ." '"' '" ~ " .. .... - "N LL ,",00 .... OIl , '"'~ " ... " ... CO " .. ""' "', ~ . en >- <( ~ ~ a: <( ~ - of. <l. m a: :J E9 r-I 1_.,'\ 1 \ ,--- 1 r 1 I I,., I '-I 1 ( _, I lot " 1 1 :----" r~l -I L__., rr7 I ..... I , , 1 I, 'i ,------ I ---, t_J 1 I 1 1-_1 I :_.. _._4O _..._ __.4O _.I., : L~ . , I ...___ : I ,.- I ...._,_J ~_______r-, Wi 1 I I - .. 1- ~ , , 1 1 , "-- 7 I , 1'--' r' I L___ -~ . :.:: ....I lD ~, II 1 ---I I -- , -- r--- r----j L._ ,_J I " , 1 I I 1- _, ..J "- I I 1 , -, , , ,1'--/ \ I t...._ \. \ v " '--, "- I " -, ,. ,." .< ....tI. .IJ / "-- . .......: .' c .'" ': .' . #.- :.; ... i: _..&................~- o E9 =~ _0 , 'lZ ~ ~ ~ o 8: 8 ~ 8 s: a1 , ...- 1 ~ .. 'A, _I'" ~ ~ ii . - . . .. . .. JI'.IIqIIW ;; c " .. r' AY'I.~I 1 " ~ 1 1": 1=- 1 H'" lA, , 1- I -_J " . ,-- is 5 l_ .. .. I';; 1- 1_ -' ~ :J ---, , .. .. .. u. -: Cl r " ,- - J 'AYOq,U.., ,1 -, , I " ---., r I 1 v;; r . J~ IS Mdde.. . ::l ii ! '--' a .. . i . ;; .. : ii ~ .. ii ~ E9 -- o o N189 In the first line on the first paragraph on page 4-183, the word "forum" will be changed to read "form" as indicated in the comment. N190 The referenced paragraph is clear as written. It indicates that on the valley floor a north-south, east-west grid pattern prevails. As the roadways ascend into the hillside, that pattern naturally gives way to the contours of the San Bernardino Mountains. N191 In the second full paragraph on page 4-183, the first sentence will be amended to read as follows: "The City's uniform pattern of development is broken by a number of clusters of high density and land extensive uses (definable districts or mixed-use projects involving large acreage)." N192 The statement in question does not indicate that "additional density will accom- plish the enhancement of existing visual settings." The statement indicates that given the additional density and development associated with the land use map, the policies and programs of the Draft Plan will enhance and support the charac- ter of various districts and sites, through development and infrastructure improvement standards. N193 The specific type of landscaping and amenities to be used in pedestrian-oriented areas will be decided on a project-by-project basis. Policies 5.3.1 through 5.3.14 address establishment of streets cape and landscape standards. However, indi- vidual tree species and specific location of trees will be determined at the time of project review. The graphic on page 302 of the General Plan illustrates general streets cape improvements. No significant adverse impacts will be expected to re- sult from proposed landscaping other than short-term potential inconveniences during planting. Nl94 Districts referred to throughout the EIR are indicated and identified on Figure 4. ~",2 o o N195 The referenced paragraph discusses the impact on views of the City from the sur- rounding foothills and higher elevations. In order to clarify that point, the first sentence will be modified to read as follow: ''The impact of new development will be minor or insigniflcant in terms of views of the City from surrounding foothills and higher elevations;..." The impact of development into the hillsides from views from the valley floor are discussed in the bottom paragraph on page 4-185. N196 As indicated in the paragraph beginning on the bottom of page 4-188, the extent to which changes to the City's physical visual characteristics are signiflcant is de- pendent upon the individual's perspective. To some individuals, any type of open space (potentially including even blighted vacant land) is preferable to any development in all cases. To others, a well designed and well maintained urban development may be preferable to vacant land characterized by no biological or visual enhancing characteristics. Unlike other topics addressed in the EIR, the determination as to whether a particular aesthetic change is adverse or beneficial is, to some extent, an individual's choice. However, the EIR does indicate those changes which would substantially alter the existing visual characteristics of the City and planning area. N197 Although changes in scale will result with respect to development from imple- mentation of the Draft Plan, the land use and circulation sections of the Plan pro- vide that urban parkways will not be directly impacted. N198 The fIrst sentence in the fourth paragraph on page 4-186 will be amended to read as follows: '1mplementation of the Draft Plan policies (e.g., 5.3.2, 5.4.1 and 5.4.2) will result in the increased pedestrian orientation and consequent visual quality of a number of key commercial districts. These policies discuss the implementation of streetscape, street furniture, color coordination and other de- sign features which would enhance the visual attractiveness of the commercial districts. These districts include the downtown area, Central City Mall, ..." .,,_ 'l - o o Nl99 The fInal paragraph on page 4-186 will be amended to read as follows: ''TIle Draft Plan provides for the revitalization and upgrading of the City's economi- cally and physically depressed commercial strips; particularly those along Mount Vernon Avenue and Baseline Avenue. The Draft Plan includes several policies to improve the physical and visual character of these districts. Such policies include 1.24.10-36, 1.22.14, 1.22.15, 1.25.10-35,4.17.1,4.17.2,5.3.2,5.4.1, and 5.4.2." N200 The paragraph at the top of page 4-187 will be amended to read as follows: ''TIle visual character of the City's overall undeveloped areas (approximately 16,650 acres as of 1987 including vacant areas and flood control/open space) will be sig- nificantly altered by implementation of the Draft Plan. All 12,146 acres identified as vacant in 1987 are designated for some type of development per the land use map (Figure 4). Although exact sites are to be determined in the future, the Gen- eral Plan specifies a total acreage to be utilized as neighborhood, community, and regional parks, recreational corridors in the Santa Ana River, Cajon Creek, and Lytle Creek and 'greenbelt' linkages to the San Bernardino Mountain foot- hill " s. N201 The paragraph in question (last paragraph, page 4-188) is not intended to be an analysis of impacts, but rather a summary of the mitigation measures discussed above. As such, it could be seen as redundant and will be removed from the text. N202 The level of significance on page 4-189 will be amended to read as follows: "As indicated above in the text, implementation of the Draft Plan will increase the determination as to whether anyone particular change is or is not an adverse results, as explained in the text, in an individual's perception of desired urban aesthetics. Impacts of the Plan related to the increased density can be mitigated via implementation plans and policies discussed above to an acceptable level by providing for a high quality urban environment. Consequently this is consid- ered to be a Class II impact." ~, II 1 _ o o Implementation Programs 16.4 and 16.14 both refer to secondary access. In par- ticular, 16.14 indicates that the Director of Public Works/City Engineer shall de- velop guidelines for use in the site plan review process which specify the require- ments for multiple access routes to development projects. This indicates that secondary access requirements will become part of the site plan review process. At that time it will be come the City's responsibility to determine on a project-by- project basis whether a particular proposed development is in conformance with the City's adopted guidelines with respect to secondary access. The potential im- pact to developments not served by secondary access will be accessed during the site plan review process and is not an appropriate topic of the EIR. N203 Information has been added to the text with respect to projected loss of habitat from continued mining in the "IE" land use designation. See response to com- ment N163. The following information will be added to the "project impacts" of the discussion on mineral resources: "As indicated in this EIR's discussion of bi- ological resources, the proposed ''IE'' uses in the Cajon Wash area would be ex- pected to have significant impacts on biological resources of the area, including impacts to at least two known locations of the federally endangered Santa Ana River Wolly Star and one location of the Slender Horned Spine Flower. Please see Section 4.3.1.2 of this document for a more complete discussion of the ''IE'' land use on biological resources currently existing in the planning area." The fol- lowing information will also be added to "project impacts" of mineral resources: "Utilization of the ''IE'' designations for mineral extraction could result in visual impacts to the landscape related to mining and landscaping scars from the physical extraction of the mineral resources." With respect to mitigation measures addressing reclamation, the text will be amended to read as follows: "The third level of mitigation contained in the Draft Plan is to assure adequate reclamation of mineral resource extraction areas to mitigate the visual impacts which can result from physically removing the aggregate material. Specifically, Policies 10.9.1-10.9.5 address the reclamation of land after mining. These policies _. , o o require that all resource extraction sites have plans and procedures for land rec- lamation, conforming to the requirements of the State Mining and Geology Board, and are to be implemented upon completion of extraction operations at each site or portion thereof. The policies further state that it will be the City's re- sponsibility to insure that all mineral reclamation projects are reviewed under the policies and procedures of the California Environmental Quality Act and the State Mining and Reclamation Act. The Plan requires that permits for mineral reclamation projects specify compliance with state, federal and local standards and attainment programs with respect to air quality, protection of rare, threat- ened or endangered species, conservation of water quality, watersheds and ba- sins and erosion protection. Additionally to insure that even after conforming to the local, state and federal requirements stated above, the proposed reclamation plans meet the level of reclamation desired by the City. Policy 10.9.5 requires that the Mayor and Common Council have discretionary approval of all reclama- tion plans. It would be assumed that implementation of Policies 10.9.1-10.9.5 provide an adequate framework for insuring reclamation to mitigate visual impacts associated with aggregate extraction." N204 The following information will be added to the first complete paragraph on page 4-193 with respect to the impacts of mineral extraction: "Figure 17A indicates those areas in which proposed "IE" uses could be in conflict with adjacent land uses." The last sentence in the first full paragraph on page 4-193 will be amend- ed to read as follows: ''However, in the Cajon Wash and Lytle Creek area, resi- dential uses and planned residential areas do border potential extraction areas and may experience potential impacts from fugitive dust and noise related to fu- ture mining activities. As indicated in Figure 25A, (see noise analysis Section 4.4.4 of the EIR) noise levels from use of equipment related to mining would probably be in the 75 to 95 decibel range at 50 feet from the noise source." The following information will be added to the mitigation section of the mineral re- sources discussion: "Implementation Program 10.12 indicates that upon receipt of application for mineral resource exploration or development, the Planning ~')L.I. EB o ;; ~ ;!! ~ " : :' "' s .. ~ . !! : '--L . "' ~ ~ . i P'"lrlt ~I' .. . & , " "'^ ~ '---- " I --, .L .- ~ , Raflt.. Awt , ( , -' , , ~ :s ~ 8 :g o ~ ::::l ~ z~ 0_ R- ,. .. . & .. . & . m :: 0 c. ., -~';. J -. u, . .. -I , "' ,.. ..- .._- ,-- '-- -, l ." S'erlln , _=, ,-1_1,..1 I , " 'IClorll AyJ .. .. AI,bI... SI !! oJ i I -" "1111 Av. I r , ,- Av' I .,.~\ EB / ~ .- ,- " 1 ~I ~~-, I I l__,"" \ I I ---., 1 , , , , " j : !! I_J--------! ,_1_- . -~ I I --_..I . , . ~1 I I'T.. ......__..... ..........1 , __I , 1 , , ,. , ------ -, -....-. , , J--} 1...__- ~ ", lJJ IJ:, I" o !::"" .:ii:~-I ::ifr (., .::" .........-....'.. , I \ ....--'-,' .- I 1 I , .1 ...- ,- -I , " , I I I r-' _, L____J ...__J , ---... f ,--- , I, L~ EB ~mmm ~1!iJ_ ;: j :u CD GO 2= a iD c: GO CD GO m )C i s- ID .... .... fI) QI ... .... :u CD GO 2= ::s - !!!. c: GO CD GO :;lit m co( . in . c: GO CD GO : ... "g c: Ul <> Ul ..... ::s ;::l co ,., Il> ... ..... o " ... o Ol >< ..... Ul ... ,.. ::s UL~ ~ C. ~1 ;; r.: .... CD ;::l " Ul ..... t'. (~ ::s ... ..... .. ... c: Ul CD '" -n - G> C :0 m ...a. ...., )> o o Department staff shall contact responsible local, state and federal agencies to es- tablish development compliance criteria, health hazard safeguards and necessary on-site monitoring programs to assure mitigation of potential environmental im- pacts such as approved access, dust, noise and visual." N205 The following information will be added to the cumulative impacts analysis of the mineral resources discussion: ''Mining of aggregate resources throughout RSA-29 could potentially impact local biological resources, aesthetic quality, and localized air quality related to fugitive dust. The significance of these issues would depend on the specific physical configuration of each site and associated quality of biological resources. Land use incompatibilities between the aggregate mining and adjacent uses could result if the mining sites are located next to sen- sitive uses." N206 As the significant mineral resource areas existing within the planning area are preserved by the Draft Plan for future aggregate production, the loss of any ag- gregate resource as a result of land uses proposed by the Draft Plan is considered an adverse but not significant impact (Oass 3). Potential impacts from the min- ing of aggregate resources permitted in the "IE" use designation areas on the aes- thetic quality of the sites is considered to be significant but can be adequately mitigated through implementation of appropriate policies relating to reclamation of these areas (Class 2). Potential impacts on the biological resources of the i.e. areas related to future mining of the areas would include loss of habitat and probable loss of at least three known locations of federally endangered species. This impact would be considered to be a significant impact that cannot be miti- gated given maximum implementation of the Draft Plan (Class 1). ., 1_ Cl o o "Although the impact of the proposed project on the mineral resources of the area is considered not to be significant, the impact of extraction of these resources as permitted in the Plan would be significant and not mitigable given Plan imple- mentation. Consequently the level of environmental significance for mineral re- sources is designated as Oass 1." The unavoidable adverse impacts section of mineral resources will be revised to read as follows: ''Potential impacts of mineral extraction as permitted in the i.e. land use designation of the Draft Plan on sensitive biological resources is consid- ered to be an unavoidable adverse impact." N207 The two specific corrections indicated in this comment will be incorporated into the text of the EIR. N208 The last sentence in the first complete paragraph on page 4-198 will be amended to read as follows: "However, more detailed on-site analysis would be needed before a definite determination could be made as to whether or not these faults represent potential areas of ground surface rupture." N209 As indicated in the first paragraph on page 4-196, primary geologic and seismic hazards in the planning area include ground shaking, fault rupture and potential liquefaction. All of those primary hazards are discussed in detail in the geology analysis and figures are provided. Slope instability and erosion are indicated in that paragraph to be secondary hazards and are consequently not discussed in as much detail in the geology analysis. As indicated in this paragraph, a detailed discussion of both primary and secondary hazards is available in the City of San Bernardino General Plan Update, Technical Background Report which is incor- porated by reference into the EIR. The City does have an emergency response plan that can be activated during a major seismic event and the following information will be added to the discussion of geology and seismicity in the Em: ''For the purpose of responding to a major disaster, the Oty of San Bernardino _. .... o o has prepared the City of San Bernardino Emergency Plan. The plan details the responsibilities and interactions of federal, state and local governmental agencies as well as private organizations in the event of a major disaster. The plan indi- cates that in the event of a major earthquake the possible effects on lifelines in the City of San Bernardino includes rupture of petroleum product pipelines and nat- ural gas transmission pipelines, disruption of operations at the Southern Califor- nia Edison Plants and substations, disruption of water supply, disruption or ter- mination of wastewater treatment operations and communication systems, clo- sure of major surface transportation and potential damage to local airport run- ways. The City's Emergency Plan establishes actions, policies and procedures for implementing Section 406 of the Federal Disaster Relief Act of 1974." N210 The following information will be added to the bottom paragraph on page 4-201: "Any proposed uses within the Alquist Priolo Special Study Zones will be sub- ject to the Alquist Priolo requirements including a geotechnical study for site spe- cific development. In addition, no structure can be placed within 50 feet of a fault within the zone. The Draft Plan recommends that no critical facilities are placed within 100 feet of a fault. There are areas in the City that are currently ex- isting that are not designed to withstand potential ground acceleration of future forecasted earthquakes. Senate Bill 547 requires local jurisdictions to enact struc- tural hazard reduction programs by inventorying pre-1934 unreinforced mason- ry buildings and by developing mitigation programs to correct the structural hazards. Inventories and mitigation plans must be submitted to the state by Jan- uary 1, 1990. Although the City has not accomplished this inventory at this time, the City is aware that the inventory must be completed. In addition, policies in the Draft Plan reflect the necessity to complete such studies." N211 The following information will be added to the Geology/Seismicity discussion in the EIR: Slope instability and erosion are addressed in the Draft Plan via Policy 1.14.12 which indicates in the discussion of hillside management residential de- velopment "reduce the total yield of development if other hillside management ...~ o o standards (grading, habitat preservation, slope stabilization, drainage, etc.) can- not be attained." This policy indicates that before development approval, grad- ing and slope stabilization would be analyzed and any potential hazards identified. Mitigation of those hazards, as indicated in this policy, could include reducing the number of units allowed in various hillside management locations. In addition, Policy 1.14.33, which encourages the clustering of units in order to minimize grading and protect properties from hazards. Policy 1.14.34 requires a geologic study for all sites determining slope stability, locations of faults, adherence to standards of the ''Seismic Risk Management" overlay, and prohibition of development on known landslides. N212 The level of environmental significance discussion with respect to geology and seismicity will be rewritten as follows: '1mplementation of the Draft Plan will substantially increase the number of persons exposed to the geologic hazards de- scribed in the text, including the fact that the planning area can be expected to experience a large magnitude earthquake sometime during the life of the Draft Plan or associated structures. Consequently, the level of environmental signifi- cance would be considered Class I (significant impacts that cannot be mitigated or avoided). However, it should be noted that mitigation measures are available to reduce potential effects of a major earthquake, even though the exposure of greater numbers of people to that hazard could not be mitigated. N213 & N714 It is not the purpose of the General Plan to provide information in adequate de- tail to calculate drainage values for individual basins. Drainage values depend on site specific design (e.g., a lo-story building on a 2-acre site with 50% lawn will have very different drainage characteristics than a 2-acre parking lot). Hydrology studies will be undertaken as part of review on a project by project basis. The text correctly indicates that the Plan will, in general, create additional runoff and expose a larger population to flood related hazards. ,,~, e o N2l5 The subject text with respect to flooding will be amended to read as follows: "As stated above, three portions of the planning area are presently subject to flooding during a lOO-year storm (flows not contained in storm drain facilities) (Figure 2). These three areas are not currently protected from flows of the lOo-year storm. If future development were to occur in these areas, that development would also not be protected from the lOo-year storm flows. Land uses proposed by the Gen- eral Plan for these areas are: ..." N2l6 This comment addresses the Draft Plan. N2l7 See response to comments N2l~ and N2l/f. N2l8 Policies have been identified in response to comment El. Cumulative impacts are addressed in general terms in the text. Mitigation will be accomplished on a site specific basis. On a regional basis, mitigation will be accomplished as deemed necessary by the County Flood Control District. The subject EIR is not intended to be a hydrologic study of RSA-29. N2l9 The correction noted in this comment will be made to Figure 23. N220 The following information will be added to the top paragraph of page 4-214: "Although the specific direction of groundwater movement at any particular lo- cation is not known, it is known that regional groundwater flow in the planning area is from north to south toward the Santa Ana River and Colton Narrows. The following information will be added as a new paragraph to the existing con- ditions section of the hazardous materials discussion: ''The City is currently treating the groundwater contamination problem through the use of aeration towers. These towers act as filters through which contaminated water is pumped and mixed with air. As the contaminants are more prone to adhere to air rather ."~,, o o than water, the contaminants adhere to the air as the water contacts the air inside the tower. The air is discharged to the atmosphere and the water which has been cleaned is restored for use. Two groundwater decontamination sites currently involved in the City's decontamination program are the Newmark site which in- volves two towers 4S feet tall and 12 feet in diameter at Reservoir 5 and Western Avenue and the water site involving two towers 45 feet tall and 17 feet in diame- ter at Waterman and 30th Street." N221 The following material will be added to the existing conditions analysis of haz- ardous materials: "Any accidents involving hazardous waste material or con- taminants are usually handled initially by the police and/or fire departments serving the area. Those departments can request assistance from the County- wide Haz Mat Team from the County Environmental Health Department. The Haz Mat Team includes a minimum of two fire specialists and two environmental health specialists who are prepared to perform hazard identifica- tion, risk assessment and control measures when necessary." See responses to comments NZlO, N222, and N223. N222 The first paragraph in the project impacts discussion on page 4-214 reflects the information presented in the comment. That is hazardous materials use by cer- tain types of new industrial and commercial businesses could result in impacts associated with proposed Citywide land uses in the Draft Plan. N223 The following information will be added to the project impact analysis of hazard- ous materials: ''The draft land use plan designations indicate that the areas proposed for residential use in the north central and western portions of the City would be most likely to be affected by existing sources of contamination. Poten- tial residential land use conflicts would need to be evaluated on a site specific basis and a determination made as to the safety of the future land use in relation to the City's attempt to clean up contaminated groundwater." .:zl~ . o o N224 The word correction noted in this comment will be made to the text of the ElR. The second paragraph on page 4-217 will be rewritten to read as follows: "The State Office of Noise Control has developed noise compatibility guidelines for various land uses (Figure 24). For residential areas in general, 65 dB Ldn is the maximum acceptable exterior noise level, given conventional building construc- tion. For the "noise sensitive" uses such as schools, churches and hospitals, an Ldn value of 70 dB has been established as the maximum acceptable exterior noise level. Based upon these State guidelines, 65 dB Ldn is used in this analysis as the threshold criterion." The heading of the third column on Table 24a will be amended to read "dB(A) Ldn at 200 feet." N22S The word correction noted in this comment will be made to the text of the EIR. N226 The word correction noted in this comment will be made to the text of the EIR. N227 The bottom paragraph on page 4-219 continuing through the top paragraph on page 4-226 describes where existing residential uses are currently subjected to noise levels greater than 65 dB(A). In response to comment Nm, Table 26 has been amended to indicate street segments with residential uses which will be subjected to noise levels greater than 65 dB(A) Ldn given maximum buildout of the Draft Plan. The following sentence will be added to the second paragraph on page 4-227: "In addition, Table 26 indicates which street segments contain residential uses which will be subjected to future noise levels greater than 65 dB (A) Ldn." JlCf - o o N228 The sentence which starts 'The noise levels..... will be rewritten to read as follows: 'The following are examples of noise levels for industrial uses in San Bernardino, obtained by field monitoring:" The addresses of the industrial sites identified as examples in the Draft Em will be added to the text. N229 The attached graphic, Figure 25. .., showing existing and future residential areas impacted by railway noise levels greater than 65 dB(A) shall be added to "existing conditions" of the Noise section. Following the sentence on page 4-219 which starts: ''Table 25 illustrates....., this sentence will be added: ''Figure 25' indicates areas of residential uses which are currently impacted by railway noise of 65 dB(A) or greater." Following the first sentence on page 4-227, the following sentence will be added: "Figure 25. indicates where railway noise may impact future residential areas." N230 Table 26 will be amended in the text (see following pages) to indicate (by an as- terisk) where residential uses would be subject to unacceptable noise levels. In addition to this change and to the changes indicated on pages 4-228 and 4-229, as a response to comment E1, the second paragraph describing mitigation measures will be amended to read as follows: "As discussed above, implementation of Policy 14.1.3 would not be expected to be extremely effective because installation of the noise barriers in question would not be economically or physically feasible in many instances. The concern is the impact of future unacceptable noise levels generated by future buildout and associates vehicular noise increases on existing noise sensitive uses. Consequently, it is recommended that Policy 14.1.3 be re- worded to require that existing housing, health care facilities and other "noise sensitive" uses located in areas subject to future noise levels of an Ldn of 65 dB(A) or greater be protected from unacceptable noise levels by the installation ~~C\ ~. - " (/) I- as ~ CD as ,6 e .. ... II: ::l .. CI == c I- 0 as CD c .. ;: (/) c a: e ., ! z 0 c 'j( 0 0 as ::l 0 a. w .. 0 CD ;: CD ::l .!! as C 0 II.. W .. .. 0 .. CI .. 0 !l 0 .. Z ,~ c a. CD .. 0 CD as E 0 C '-I Z as c as CD 1_.,', as .!! - 0 I " as .. a.. 'l:l as 1--- C III l- e - , e :0- 'l:l I I"~ 0 CD .. = as e I -, 0 CD 0 .. 1II , , l6 as II: .. CI 4) .. 1II I , ::! 0 c .2 E 1II C CD I II.. 4) :J CD as -, e as '2 ClI E :J lot " ~ 1II II ii I II: (/) 4) ii e as as ;: (/) ----~ ,~: a.. E ;: I C :0- C I C 4) as 4) :0- C Z 0 .. 'l:l II CD l__., rr1 e .. 0 III .! '0 .! 'l:l I ~. .. - 0 as c ii '0 I 1ft 4) ii I I- Z ::E as II: CD N II.. (/) II: II: II: I, W e 0 I iD . . ------!j II: II: ~ I ---" :J 0 . . I Cl !5 I 0 . . I ii: e (/) I ," ,--' ... , , r-...---------..-~ 1- --I . I, -_J . . . .' . ..--- ;;; I ;;; . I ; J . .. ,- ! . --, L_ a . r-J ;;; I 1-------- .. I- I ~ 0 ,- . , , . .,c- , c -H _0 "'\JZ :2: 0 ;:::: ~ 0 8: 8 :E 0 (J s; ~ ~ ~ a; III . IL 0 Q . Ill" Z " : Of ... ~ ... 4( ~ It III ~ ... z ~ _:J _, o I ... , I , I I I '---- , I , "--1 I , L_.Jr ~, II I ---I I --__ I r--- ,----, '-- ,-.I I I, I I I I 1_ _' _I ,.- , I I -, I , ,''''--' \ t ,........ " , ' , , f.._~_ I l, -, ,/ , , --j" J~ a; I IS ,eeleled '--' .1. _ . c . 1i ;;; !! : ,; i . . ~ ;;; i ...2 III III ..- ...~ 4(C1 III ::I III as S J! 8 1II 1II e (/) .:11: C 'l:l c II E o ,!,! > .. il ~~_ H/ !"'~.- - - o o TABLE 26 (Revised) Estimated Noise Levels (Ldn) Near Major Roadways Existing Increase Future dB(A) Ldn at Plan dB(A) Ldn Between (at 100 feet) Buildout (at 100 feet) 1986 ADT 30-50,000 Highland Avenue I-215/Rte 30 70 2.0 72 Arrowhead/Sierra 1986 ADT 20-30,000 . Waterman Avenue 40th St./I-lO 66-68 3.5 70-72 . Highland Avenue Pepper/I-215 66-68 1.2 67-69 . 5th Street Pepper/Rancho 66-68 1.6 68-70 Baseline Street 1-215/Waterman 66-68 2.8 69-71 . Del Rosa Avenue Rte 3D/Highland 66-68 4.7 71-73 Mt. Vernon Avenue Baseline/9th 66-68 3.7 70-72 . Mill Street K St./E St. 67-68 4.4 71-72 1986 ADT 10-20,000 . Waterman Avenue 40th St./Sierra Way 64-67 1.9 66-69 Orange Show Rd. at 1-215 64-67 4.4 68-71 3rd Street Tippecanoe/Sterling 64-67 4.8 69-72 . 5th Street Rancho/Waterman 64-67 3.9 68-71 9th Street 1-215/Tippecanoe 64-67 -10.1 54-57 Arrowhead Ave. Orange Show Rd./ 64-67 7 71-74 5th St. . Baseline Street Waterman/Sterling 64-67 1.5 66-69 Mt. VemonAve. Baseline/Cajon 64-67 5.1 69-72 . Pacific Street Sterling/Victoria 64-66 -7.9 56-58 . Sterling Avenue 5th S.t./Rte 30 ..6U6 5.0 69-71 . University Pkwy. 1-215/N. Park 64-66 5.4 69-71 Redlands Blvd. at Waterman 64-66 4.9 69-71 . 40th Street Electric/Waterman 64-66 2.2 66-68 H Street 5th/9th 64-66 -3.6 60-62 *Street segments with existing (1987) residential uses which will be subjected to noise levels greater than 65 dB(A) Ldn (see Figure 24) given maximum buildout of the Draft Plan. ""~~ j . o TABLE 26 (Revised)(Cont.) Estimated Noise Levels (Ldn) Near Major Roadways Existing Increase Future dB(A) Ldn at Plan dB(A) Ldn Between (at 100 feet) Buildout (at 100 feet) It Rialto Avenue Mt. Vernon/ 64-66 4.8 69-71 Arrowhead It Sierra Way 5th/9th 64-66 7.6 72-74 It Kendall Drive University /E St. 64-66 5.1 69-71 Mill Street K St./E St. 64-66 5.2 69-71 It Pepper Avenue Mill/Foothill 64-66 4.7 69-71 E Street I-10/Highland 68 5.9 74 Pepper/Mt. Vernon 1986ADT 5-10,000 It Rialto Avenue Arrowhead/Waterman 62-64 3.2 65-67 It Rancho Ave. Mill/Foothill 62-64 8.3 70-72 It 5th Street Waterman/Victoria 62-64 6.4 68-70 It Inland Center Drive Mt. Vernon/215 62-64 7.5 70-72 30th Street 62-64 1.1 63-65 3rd Street E St./Tippecanoe 62-64 3.7 9th Street Pennsylvania/I-215 62-64 -1.3 61-63 It E Street Highland/Rte 30 62-64 6.9 69-71 21st Street Waterman/Valencia 62-64 -8.3 54-56 Arrowhead Avenue Highland/5th 62-64 -2.7 59-61 It Sierra Way Mill St./5th 62-64 8.6 71-73 It Cajon Blvd. Palm/Mt. Vernon 62-64 8.0 70-72 It Kendall Drive Palm/University 62-64 3.5 66-68 Medical Center Dr. 62-64 -2.6 59-61 Victoria Avenue Lynwood/Base1ine . 64-65 3.6 68-69 Palm Avenue at Highland 64-65 -1.6 62-63 Methodology: Noise Assessment Guidelines. HUD, Office of Policy Development and Research, 1979. Fundamentals and Abatement of Hil!:hway Traffic Noise. Bolt, Beranek and Newman, Inc., 1973. ~~s .J!l - o o of insulation, walls, berms, or other elements with funding and installation to be the responsibility of the developer(s) of the land uses determined to generate (ei- ther directly or indirectly) the incremental noise increases resulting in the unacceptable noise levels. Funding would be via developer contribution. In this way the use that would create the unacceptable noise level would be responsible for its mitigation, as opposed to existing uses being held responsible for impacts created by future uses. The only other mitigation available to reduce future noise impacts generated by vehicular traffic would be to substantially downsize project buildout. However, this would result in a Plan that would be less effective in meeting many of the City's goals for development. "Table 26 will be modified in the text to indicate those street segments with existing residential uses which will be subject to noise levels greater than 65 dB(A) Ldn (see Figure 24) given maximum buildout of the Draft Plan." The re- vised Table 26 is included here on the following pages." N231 Paragraph #2 on page 4-228 will be amended as follows: "Based upon the analysis of aerial photographs, it has been determined that expansion of residential areas in the northwest quadrant will cause noise sensitive receptors and industrial noise sources (both existing and future) to be in closer contact. In all cases, however, setbacks, open space, roadways and I or commercial strips serve to dissipate or buffer industrial sources from future residential areas. In fact, the intervening land uses, such as roadways or commercial uses, could cause a more noticeable noise impact than the industrial uses. Thus, no problems of incompatibility, with regard to industrial uses alone, are expected. Although background noise levels can be expected to increase, noise created by industrial uses and experienced by sensitive noise receptors in new residential areas are not expected to be above the recommended 65 dB(A) Ldn." 1....0 J _L 11 . o . N232 The specific policy references have been added in response to comment E1. On writing the EIR, it is assumed that all policies contained in the Plan would be im- plemented. Once adopted, the City would not have the option of "pick and choose" which policies to implement. It is not the purpose of the EIR to address the consequences of potentially omitting each individual policy from the Draft Plan. Also, see response to comment N2~, above. N233 The sentence has been rewritten. See response to comment El. N234 The specific policy and implementation program references have been included in response to comment El. These programs call for the City to ''Establish land use noise compatibility standards in the Development Code..." 014.2); "Develop and adopt a community noise control ordinance..." (114.9); and "Include in the development code standards and requirements for parking structures and lots..." (114.5). N235 The discussion of the Level of Environmental Significance will remain as shown in the text. The discussion of unavoidable adverse impacts will be reworded to read as follows: "Any increases in housing, commercial, or industrial development will increase the amount of activity with associated increase in am- bient noise levels. However, given implementation of the Draft Plan's polides and programs, and mitigation discussed in the text above, no impacts to noise sensitive land uses would be considered unavoidable." N236 Paragraph #2 on page 4-231 has been amended to read as follows: .....Between 1946 and 1985, the average annual maximum wind speed was 49 knots (56 mph),..... N237 The sentence in question, the last sentence in the last complete paragraph on page 7-1 will be amended to read as follows: '1n order to insure that the City's infrastructure is adequate to meet City growth demands, the Draft Plan includes ....ft_ tt._ IlIIl o o numerous policies to reweight the timing of infrastructure improvements to the timing and pattern of City growth. For example, Policy 6.1.1 requires the City to review annually the functioning of the street system as part of the capital im- provement program to identify problems and requires the City to actively pur- sue implementation of improvements identified as needed in a timely manner. The associated implementation program Q6.1) requires the City to identify the available sources of funding to finance implementation of each improvement project. Policy 7.1.2 requires the City to provide for the construction of upgraded and expanded wastewater collection and treatment improvements to support existing and new development. Policy 7.1.5 requires that all new development secure sewer capacity rights for the City's water reclamation plant prior to or at the time building permits are issued. ( If it is not feasible for development to be served by the water reclamation facility, the Mayor and Common Council may choose to allow an alternative method of wastewater disposal provided that ap- propriate permits are obtained from the California Regional Water Quality Con- trol Board.) Policy 7.6.4 requires that adequate water supply transmission, distri- bution, storage and treatment facilities be operational prior to the issuance of cer- tificates of occupancy. Policy 7.9.4 requires that adequate storm drains and flood control facilities be in place prior to issuance of certificates of occupancy (the Mayor and Common Council may permit the construction of interim facilities sufficient to protect present and short-term future needs if necessary). These pol- icies insure that development and occupancy of structure will not occur until the appropriate infrastructure to support the development is in place." N238 Section 7.0 "Growth Inducing Impacts" does indicate that the Draft Plan would induce growth in the planning area. In response to comment N235 above, the text will be amended to include examples of policies that provide for the timing of infrastructure improvement to be tied to development and/or occupancy of development. The Em does indicate in paragraph 2 that the capacity of the proposed plan to induce growth would be considerably less than buildout of the .,a.1il1. o o previous General PIan. This determination is based upon the analysis of the "no project" alternative in Section 5 of the text. N239 The EIR does indicate on page 9-2 that irreversible impacts expected to result from implementation of the Draft PIan would include fragmentation and degra- dation of biological habitat leading to a decrease in habitat value and associated loss of biological diversity. The following information will be added to the risk of irreversible impacts expected to result from the Plan: "Significant loss of open space in the conversion of that open space to urbanized uses." The last sentence on page 9-2 will be amended to read as follows: "Permitted uses withip the City contain no unusual or extraordinary elements that would be expected to pose a danger of an accident resulting in irreversible environmental damage." ....~"' Safety Personnel 3 Auiatant Chief 1 Battalion chief 18 Captains 6!1 Safety 16 Support (non-safetl') 21 Emergency Vehicles 1 Safety p.rsonnel Battalion Chief 12 Captains 34 Engineer/Fire Fighter 10 Support (non-safety) 12 Emergency Vehicle. (}'B3/ &.It>.. ,..lA.....- 6-89 SAT '3 : 1t::1;2 o o ~ ," SAN BERNARDINO CITY FIRE DEPARTMENT MEMORANDUM UIIlL\<. ~~sM- To: lia .....icho.~d8_U~' DepuL." Cl't'r'A4M.llli:l\.~.~QJ;.... From: Jim <<night. Deputy fire Chief m {;.- t;:- r. fl ". ..'f.l I~ I~ - .. . 7 ~!r; ';~ ,."/ ,.; r-- ( 1 "..1 '. ',~; " ! '. . .' i U I MAY) 3 ~,1,;}- '.,' . ~ -----------------------------------------------~~~------------ .." ( F{iIJjAV.~f" . , '4. ."..,.. ..::. SJi/V 8EI;"'.. g;::. '~...:" Subject: General Plan Draft Date: May 2.1989 ';':~': In summary. the Draft Plan. NO Project Alternative. and Alternatives A. B. C. and H have the following demands for fire services: POPULATION INCREASE ADDITIONAL PERSONNEL & EOUIPMENT RZOUIRED DRAFT PLAN 65,070 Safetv P.raonnel 1 As.i_tlnt Chief 1 Battalion Chief 15 captains S9 Engineer/Fire Fighter 11 Support (non-safety) 15 Emergency Vehicles NO nOJECT ALTERNATIVE 232,1&4 ALTERNATIVE A 45.707 P ..-:- 5 (;;:l , '{l,' .........' ' o 4C. _ r'1.=-:t......- 6-8', SAT ":;;t : 03 P.ooS .... o o , POPULATION ADDITIONAL PERSONNEL i ./\ INCREASB EOUIP~NT RBOUIRED ALTERNATIVE B 67.472 Safetv Per.onn.l 1 Assistant Chief 1 Battalion Chief 15 Captains 59 En9ineer/Fire Fighter 11 Support (non-safety) 15 Emergen~y Vehicle. ALTERNATIVE C 130.105 Safety Personn~l \ 2 Assistant Chiefs 1 Battalion Chief 15 Captains 65 Engineer/Fire Fighter 16 Support (non-safety) 18 !mergen~y Vehicles ALTERNATIVE H 79.935 Safetv Personnel 2 Assistant Chiefs ] Ilattalion Chiefs 22 Captain. 70 Engineer/Fire Fighter 16 Support (non-safety) 24 Emergency Vehicles ...~.. o o Response to Comments from: City of San Bernardino Fire Department (dated May 2. 1989) 01 The information presented in this comment will be incorporated into the appropriate sections of the EIR. MAY- 6-89 SAT '51: ...213 P. ~17 ... 0 0 , p San lIernardino City Fire Departlllent Memorandum lJ, AX. f.. 8tkf1?S 7 tl \;:Lty Adlllinistra~or To: Ii_ lidla'l"clson. B_.,ul;.Y From: Jim lCnight, Deputy Fire Chief Subject: Oeneral Plan Draft - ~ ~.. ~ .....' ,. or: ~ ...,... " i~ Date: May 2.1989 . " -- ;../. _______~________________________________________~------~7----- ~ -' '"", " '.. ..,. ;" DRAFT New station in Verd.mont area with one engine and one water tender, one additional engine at each of two existing stations, one ladder truck at one existing station, one parallledie squad at each of three existing stations, one hazmat unit at one existing station; an additional 76 safety personnel and 11 support personnel. NO PROJECT New station in Verdemont area with one engine and one water tender, one additional angine at each of three exilting Itations, one ladder truck at one existing station, one paramedic .quad at each of three existing stations, one hazmat unit at existing station; an additional 91 safety personnel and 16 support personnel. ALTEI.NA.TIVE A New station in Verdelllont area with one engine and one water tender, one additional engine at existing station, one ladder truck at existing atation. one paramedic squad at each of two existing stations, one hazmat unit at existing station; an additional .7 safety personnel and 10 support personnel. ALTERNATIVE II , New station in Verdemont area with one engine and tender, one additional engine at each of two atations, one ladder truck at existing station, 1 squad at each of three existing stations, one hazmat existing atation; an additional 76 safety personnel. support personnel. one water exilting paramedic unit at and 11 ....t:l/_ MA.....- 6-89 SAT '? : "~1 4 P. ..:. E: ~y o o , ALTEIlNATIVE C New station in Verdemont area with one engine and tender, one additional engine at each of two stations, one ladder truck at existing station, one squad at each of three existing stations, one hazmat existing station; an additional 80 ..fety personnel support personnel. one water eXisting paramedic unit at ancS 16 ALTEIlNATIVE H New station in Verdemont area with one engine and ona water tender. one engine and two crash trucks at Norton Air rorce Base. one engine at existing station. one ladder truck at existing station. ona paramedic squad at eaeh of three existing stations. one hazmat unit at existing station; an additional 97 safety personnel and 16 support personnel. ..l9J " o 0 Response to Comments from: City of San Bernardino Fire Department (dated May 2. 1989) PI The information presented in this comment will be incorporated into the appropriate sections of the EIR. ~aa o STATE OF CALlFORNIA-8U$INESS. TllANSPORTATION AND HOUSING AGENCY o DI'-S //.u-JU-< II'~ GEORGE DEUKMEJIAN. 00_ DEPARTMENT OF TRANSPORTATION DlSTllICT 8. P.O. lOX 231 SAN SERNARDlNe. CA 92~ roo (714) 383-4iI09 Q May 3, 1989 08-SBd-Var-Var SCH #89621308 :":'-.. : i lID rl:!\Y I) ;11989 ~ , ~~ Mr. Vincent Bautista City of San Bernardino 300 North "0" Street San Bernardino, CA 92418 " .1; ) . ,l. '~'_. Dear Mr. Bautista: ~, - 1 .," " " " ;;:"~I'M,:U ~;i~.. ~icA:~.' ,:;D;r~J. CA We have received both the General Plan for the City of San Bernardino and the Draft Environmental Impact Report for the General Plan and have the following comments concerning the circulation element of these documents. The first area of concern is the traffic study on which both of these documents were based. We can not fully analyze this General Plan until the following points are clarified and/or corrected: o On Table 11, it would be helpful to have a list of the assumptions used so that a more complete analysis can be performed. o On Table 13, the percentages appear to have been miscalculated and it is unclear where the 1.6 million retail trips have been generated from. Total build-out of Regional Statistical Area 29 is stated as 7.1 million trips which is more than all of Orange County at present. This seems improbable and we would like to see clarification of how this was calculated. o o On Page 4-100 of the Draft Environmental Impact Report, the future volumes for Interstates 10 and 215 are less than current Caltrans counts. o Throughout both documents the words "trip end" and "trip" are used interchangeably which is incorrect. This may have falsely inflated the total number of trips. o Table 13 adds the different land use types which double counts the trips that are made between different land uses. . \ 1 {2 \3 \4 \5 \ (p --- o o . Mr. Vincent Bautista Page 2 May 3, 1989 On page 3.2.1 of the Land Use Alternatives, the segment of Interstate 10 west of Interstate 215 will not be adequate and will require 10 lanes. The segment of Interstate 215 north of the proposed Route 30 Interchange should be 4 existing and will require 8 lanes in the year 2010. The development of facilities for the state Highway ~ystem and local roads in San Bernardino City are critical to the success of the circulation element of this General Plan. In response to these facilities we have the following comments: o t o The General Plan shall identify truck routes which shall have 50 foot curb radius at ramp entrances and interchanges. o All bus routes should require turnouts and minimum 30- foot curb radius with prohibition of parking. o Each project along Interstates 10 and 215 should have land dedication for future expansion and if residential, there should be noise attenuation. o A Ramp Metering Policy for interchanges in the city should be formed and closely coordinated with the Department of Transportation. o The adopted routing for Route 18 between Route 30 and Waterman Canyon Road shall be reflected in the General Plan as per Division 1; Chapter 1, Article 2, of the streets and Highways Code of the California Transportation Commission. o Route 66 should be developed as a possible 6-lane facility with restricted parking. o Route 330 should have no access points other than ramps or interchanges. In addition to facility management, a circulation element must contain strategies in reference to demand mitigations and jOb/housing ratio to be effective. In reference to Demand Management strategies we have the following comments: ...Aft o o Mr. Vincent Bautista Page 3 May 3, 1989 o Page 4-111 of the General Plan, mentions a Transportation Management Demand System which is a term we are not familiar with. If this is a corollary to a Transportation System Management (TSM) plan, we concur with that policY because it will efficiently manaqe large concentrations of traffic. o Page 4-94 of the General Plan states that bike trails are an important part of the city: however, the Draft Environmental Impact Report totally discounts their effect. We would like clarification of how the City will use bike trails. The General Plan states the importance of transit in Policies 6.4.9, 6.4.10, and 6.4.11, which is contrary to the Draft Environmental Impact Report. The Draft Environmental Impact Report for the General Plan fails to consider transit in the overall circulation plan of the City. These inconsistencies should be corrected. o All transport of hazardous waste in Policy 6.3.5 of the General Plan should be made during off peak hours and each carrier should have a plan in case of spillage. o B o Neither document states any specific policy on ridesharing or demand reduction. o Both documents omit any analysis of how developers will participate in the funding of Park and Ride lots. o Given the large volume of traffic being generated, it will be necessary to examine which arterials will be updated to the status of alternate corridors to relieve congestion and/or reliance on the State highway. As mentioned earlier, demand management will be an important part of the Circulation Plan, in addition facilities management which will effectively manage the traffic in the City. ",a I o o Mr. Vincent Bautista Page 4 May 3, 1989 Each jurisdiction should effectively manage/reduce traffic I generated. Another aspect of demand strategy is jOb/housing \ balance. We would like to see some analysis of jobs created in \ the city in relation to those who commute. In addition, it would I be beneficial if an analysis of the interrelationship between the Economic Development Element and Circulation were included. This last section will pertain to funding mechanisms for transportation facilities: If policies such as 6.1.11 and 6.1.14 in the General Plan are needed to maintain an acceptable Level of Service, then why does the Draft Environmental Impact Report state how unattainable they are? If this is true, the City should adopt a policy to fund the maintenance an acceptable Level of Service. o Policies 6.1.3 and Implementation 16.3 shall include State highways with local streets and roads. o 8 o All new development that significantly effects traffic should be reviewed by the City as stated in Policy 6.2.7 of the General Plan. Caltrans shall also review all developments that have a significant effect on traffic. We have appreciated the opportunity to review the General Plan of San Bernardino City and look forward to future communication. If you have any questions, please call Richard Malacoff at 383-4550. Very truly yo rs, Planning cc: G Smith, DOTP J Keen, State Clearinghouse ~ql. o o Response to Comments from: California Department of Transportation (dated May 3, 1989) Q1 The following information will be included as a footnote to Table 11: "Level of Service criteria were established by the City of San Bernardino Department of Pub- lic Works in conjunction with DKS Associates based on regional driver perception. In this analysis, Level of Service "C" is considered acceptable daily service level. Daily capacities at Level of Service "E" assume some a.m. and p.m. peak period congestion. The service level ranges used in this analysis are as follows: A 0.0-0.39 B Q.40-0.54 C 0.55-0.69 D 0.70-0.84 E 0.85-0.99 F 1.00+" Q2 The percentages on Table 13 have been corrected in response to Comment N_. The 1.6 million retail trips were calculated based upon 31.9 million square feet of retail space indicated in Table 2 and the following trip generation factors: NOTE: TO COME FROM DKS VIA FAX. Q3 Total trip generation for RSA-29 was calculated based upon the trip generation factors listed above and the land use description listed in Table 4. The data pre- sented on Table 4 and in the cumulative analysis of circulation are based on theo- retical maximum buildout of RSA-29, with some units probably double-counted as indicated in the ''Note'' included with Table 4. Q4 The volumes indicated on page 4-100 are directional volumes. When north plus south are added (and east plus west), the appropriate volume totals result. .JQ3 o o Q5 Although trip generation per se does result in one trip with two trip ends, these data were used appropriately in the text without double counting trips. The analy- sis used a gravity model that balances productions and attractions. Thus, when trips were assigned to streets in the modeling process, one trip correctly involved two trip ends. Q6 See the response to Q5, above. Q7 This comment refers to the "Land Use Alternatives Working Paper." This docu- ment was published in March, 1988 and is included as Appendix D to the EIR for reference. It is not the purpose of the EIR to make any changes to that document. Q8 These comments refer to the Draft Plan itself, and not to the EIR. ~''1 . ~' STAll Of CAlIfOIlN'A-THE RESOUtlCES AGENCY o o R UNI (E:7I-, GEOllGE DEUItMEJ'AN, 00_ DEPARTMENT OF FORESTRY AND FIRE PROTECTION AN BERNARDINO RANGER UNIT '>AVID J. DRISCOLL. CHIEF 3800 SIERRA WAY SAN BERNARDINO. CA 92405 (714) 882-1226 ~e-r"_., ................:.J ./J::C MAY 1 J iU:J @ ~t.:~-~"fJ ~, . ......~ ~i.. i~.:~ I;)! ',: , , : ~ 1 ~i...! c....... '. I. : ," ~ . .,. I;' I ,:.... ". :-.....1 MAY O!i 19B!; May 5, 1989 C~7Y :~L...1~.'..::..:.-: ..~:.. : ....~:;;7 ;.4~J uE:':~':..:.~:.:;... :.: Vincent Bautista / Principal Planner San Bernardino City Planning Dept. 300 North "D" Street San Bernardino, CA 9Z418 ' Re: Draft Environmental Impact Report for the Comprehensive City-Wide General Plan. Dear Mr. Bautista: The San Bernardino Ranger Unit of the California Department of Forestry and Fire Protection {CD F) supports the above captioned draft plan's recommendation that the City's Development Code shall incorporate both the landscaping and construction provisions of the "Foothill Communities Greenbelt Program" Report (Pg. 4-146). The general public's safety can be greatly improved in hazardous fire areas only through the adoption of standards listed in the Foothill Communities Greenbelt Program Report. Some of these are as follows: Roofing materials Fencing materials Street widths Cul-de-sac lengths Availablity of hydrants Quantity of water flow House numbers Dual access into neighborhoods 8< subdivisions. and fuels Management of vegetation fuels I ( i Requesting all the mutual aid fire equipment in Southern California will not stop I a Santa Ana wind driven fire, such as the Panorama Fire. The total cost of the Panorama Fire in 1980 was 58 million dollars with 30 million dollars in property damage alone within the City of San Bernardino. 3Z5 homes were consumed, 77 serious injuries, and 4 attributed fatalities occurred. The City cannot be dependent totally on their professional firefighters and their mutual aid agreements. They must have stricter development standards in hazardous fire areas. The Draft Plan does not address the potential hazard of flooding following a catastrophic fire. The mudslides in Harrison Canyon in 1979, inundated 24 homes and threatened many others within the City. The Draft Plan admits on pages 4-147 that the buildout may result in the increase of wildfire hazards in the wildland/urban interface; therefore, it can be assumed that watershed vegetation will be consumed and a potential exists for the increase in flooding and mudslides into areas of City .-')c~ . o -2- o jurisdiction. CDF has the legal responsibility for wildland fire suppression in the unincorporated Sphere of Influence primarily in the Northwest of the City in the Verdemont and Devore areas. If these lands are annexed and incorporated into the City, they can no longer be classified as State Responsibility Areas (SRA) and the City assumes full financial responsibility for preventing and suppressing all wildland fire occurring in these areas. CDF through mutual aid agreements can provide fire engines for wildland suppression to the City by request, within the City's boundary; however, mutual aid currently does not include bulldozers, handcrews, helicopters, or air tankers. If these resources are requested, the City will be billed for their services. The City could contract with CDF for these services at approximately $5 per acre. The San Bernardino County Forestry and Fire Warden Department is administered and staffed by CDF under contract with San Bernardino County, providing year round fire protection in unincorporated areas bordering the City. Currently, the County fire station on Baseline has a paramedic squad and one engine, with a second engine manned by paid-call firefighters. The CDF/County Forestry and Fire Warden Department's joint station on SielTa Way has one County paid call engine and a bulldozer. The nearest State fire engines to the City are in Devore and Loma Linda. As incorporation of County and State Responsibility Areas continue, the availability of mutual aid fire equipment from CDF and Forestry 8c Fire Warden Dept. will be reduced. Should you have any questions, please direct your cOlTespondence to Jim Laughlin, our Resource Planning Officer at this address, or feel free to call him at (714) 882-1226. Best regards, r ')~~~~t-\1) DAVIDJ.:~LL Ranger Unit Chiefl County Fire Warden DJD/JRL:jas ~9''' 4.. o o ResJ'onse to Comments from: (dated. 1989) R1 This comment addresses the Draft Plan, and not the EIR. ~q1o -1. STATE OF CAUFORN.... o o Ei-, VI C(,)11 CAUFORNIA REGIONAL WATER QUALITY CONTROL BOARD SANTA ANA REGION 8809 INDIANA AVENUE. SUITE 200 RIVERSIDE. CAUFORNIA 92508 PHONE: (7141782.4130 GEORGE OEUKME.JIAN. Gov.mo, s f~ .... .. ,,' ...... :-"-' !." ; May 5, 1989 . , .~, .... ~"'.'" ... .:' ~:"",! Vincent Bautista, Principal Planner San Bernardino City Planninq Department 300 North D Street San Bernardino, CA 92418 DRAFT ENVIRONMENTAL IMPACT REPORT (EIR) FOR THE CITY OF SAN BERNARDINO GENERAL PLAN, SCH .89021308 Dear Mr. Bautista: ',We have reviewed the above-referenced report and have the following comments. The Draft EIR has indicated that impacts on water supply and wastewater service will be monitored on a project-by-project basis. We aqree that impacts on these services should be analyzed early in the planninq staqes of a project and encouraqe developers to work with the appropriate aqencies to mitigate any potential adverse impacts. The City should also continue to work with the County in developinq a solid waste manaqement plan which benefits all concerned. With the tremendous qrowth in population expected in the area within the next several years, the above stated areas of concern will be of critical importance, not only to the City of San Bernardino, but the entire county as well. We look forward to reviewing any future CEQA documents related to this or any project within the City. If you should have any questions, please contact me. Sincerely,...., c/ ~., / ~/1t~, ..... /?,,,~./7 Gary.~eq r, E~;ironme~tal Requlations Section Specialist II cc: John Keene, State Clearinqhouse wISCH form GLK/2750SBGP.EIR ~'i o o JJ Response to Comments from: California Regional Water Ouality Control Board (dated May 5. 1989) Sl Comment acknowledged. "\QQ _ J DRAFT ENVIRONMENTAL IMPACT REPORT COMMENTS POLICE o ./fi) ~ IF. '4:.: c/i 1/ t C C'YJ , o " - T ~":"" /..., } i':' ." ;:// , I,', '" CHAPTER 4: ANALYSIS OF ENVIRONMENTAL ISSUES PAGE 4-137 "". .. ....... ./ The third paragraph cites 1987 population figures, these can now be updated. January 1988 figures supplied by the Department of Finance, State of Calif- ornia lists the population as 148,370. This change in population has caused the sworn officer to population ratio to change from 1.7 to 1.64. This same paragraph cites the 1.7 per thousand sworn officer ratio as being "nationally acceptable". In a recently completed study done by the San 8ernardino Police Department, this method of determining field officer complement has been cited as antiquated and inaccuarate. This method assumes that all cities share the same demographics, crime rates, calls for service, wants and needs. The study insteads basis field personnel requirements by work load. Officer time is broken into two categories, structured and unstructured. According to The California Commission on Peace Officers Standards and Training unstructured time, the time allowed for crime prevention, should equal 33%. A recent study ~ completed in Los Angeles states, unstructured time should equal at least forty per cent. The Police Department's study determined that currently our officers only have 9.67% unstructured time, far below the minimum set by the State of California. With the assistance of the University of California, San 8ernardino a formula was created to determine the number of personnel required to reach various percentages of unstructured time. In order to reach the minimum set by the state would require that the department hire twenty-three additional field personnel. The Police Department has presented this study to the Mayor and Common Council with the recommendation that it be utilized for setting field personnel levels within the department. PAGE 4-138 (CITY MAP) Two community offices (indicated by a fi11.ed.circle) should be removed from the map; #1 Foothill and Meridian #2 Lytle Creek Park (Mill Street east of Mt. Vernon Avenue) 3 Add one new community office: Mt. Vernon Avenue and Mill Street A short statement should be added to the map as follows: The number and locations of community offices may be varied in the future to meet changes in population and the needs of the community. ., ... '" o o Response to Comments from: City of San Bernardino Police Department (no date) T1 During the preparation of the Technical Background Report, 1987 was determined to be the year for which all "existing conditions" data was to be collected. All "existing conditions" sections in the EIR refer to 1987 conditions. Background in- formation will not be updated at this time. 1'2 References to the 1.7 officers-ta-population ratio as a City Police Department plan- ning tool will be removed from the text. Instead, the information provided here will be incorporated. Please refer to response to comment N139 and N140. T3 For the reason described in Tl, this updated information will not be inserted into the Final EIR. --. o ":::=111/1 <07/1 :>FFICE OF PLANNING AND RESEARCH _ TlNTH snm ACRAMlNTO. c:A 95114 .. ,... TA Tf a c:AlIfOIlNlA-oFFICE OF THE GOYfllNOll o U OEOfIQf DEuICMEJ'AN. ao-, Nay 12. 1989 00 rn@rnnwrnill MAY 131989 @ ~Ir. Vincent Bautista City of san Bernardino 300 North D Street San Bernardino. CA 92418 Subject: City of San Bernardino General SCH# 89021308 em ilANNlt(C G,E?A:rrMENT SAN fSffWU)lND, C.1 Plan EIR Dear Mr. Bautista: . The State Clearinghouse has submitted the above named draft Environmental Impact Report (EIR) to selected state agencies for review. The review period is now closed and the COllllents fran the responding agency(ies) is(are) enclosed. QJ the enclosed ~Iotice of COmpletion form you will note that the Clearinghouse has checked the agencies that have ...",...""nted. Please review the Notice of Completion to ensure that your comment package is complete. If the cCX1ll1ent package is not in order, please notify the State Clearinghouse immediately. Remember to refer to the project's eight-digit State Clearinghouse number so that we may respond Pranptly. Please note that Section 21104 of the California Pubiic Resources COde requires that: '"a responsible agency or other public agency shall only make substantive comments regarding those activities involved in a project which are within an area of expertise of the agency or which are required to be carried out or apProved by the agency. '" Comnenting agencies are also required by this section to support their <:amlents with specific documentation. These CO'..."".lts are forwarded for your use in preparing your final EIR. Should you need more information or Clarification, we recO".....nd that you contact the camenting agency ( ies) . -.... ...,...... This letter acknowledges that you have canpliid with the State Clearinghouse revie-II requirements for draft environmental-documents, pursuant to the California Environmental Quality Act. Please contact John Keene at 916/445-0613 if you hav3 any q.Jestions regarding the environmental review process. Sincerely, (I/r/-./~ ~"'Y V-- David C. ~enkamp . Chiefi Office of Permit Assistance ~ - Enclosures CC: Resources Agency .._~ . o o The ae..ure.. Agency . Stat ~ 01 California ^i e m 0 ran dum "- II'R 7 1989 ,,, 1. Gordon F. Snow, Ph.D. Assistant Secretary for Resources 2. Ci ty of San Bernardino 300 North "D" Street San Bemardino, CA 92418 Attention: Vincent Bautista From Deportment" Wo... 1_ Los Angeles, CA 90055 Subject, DElR for City of San Bemardino, General Plan EIR, SCH 89021308 , , Your subject dOCUllent has been reviewed by our Department of Water Resources staff. Recommendations, as they relate to water conservation and flood damage prevention, are attached. r, After reviewing your report, we also would like to recommend that you further .i- consider implementing a comprehensive program to use reclaimed water for irrigation purposes in order to free fresh water supplies for beneficial uses requiring high quality water supplies. For further information, you mBy wish to contact John Pariewski at (213) 620-3951. Thank you for the opportunity to review and comment on this report. Sincerely, c f.L;R td~ Charles R. White, Chief Planning Branch Southem District Attachments ~'l'-' ,. ~_. .' o o " ,. DEPARTMENT OF WATER RESOURCES RECOMMENDATIONS FOR WATER CONSERVATION AND WATER- RECLAMATION To reduce water demand. implement the water conservation measures described here. Require" The following State laws require water-efficient plumbing fixtures in stz:uctures: I ._. "After January 1. 1983. all new bUildings constructed in this state shall use water closets and associated flushOlleter valves. if any. which are water-conservation water closets as defined by American National Standards Institute Standard AI12.19.2. and urinals and associ~ted flushometer valves. if any. that use less than an average of 1-1/2 gallons per flush. Blowout water closets and associated flushometer valves are exempt from the requirements of this section." ! I I I I ! o Health and Safety Code Section 1792l.~ requires lOW-flush toilets and urinals in virtually all buildings as follows: o Title 20. California Administrative Code Section 1604(f) (Appliance Efficiency Standards) establishes efficiency standards that give the IJ aaxillUll flow rate of all new showerheads. lavato.ry faucets. and sink .L../ faucets. as specified in the standard approved by the American National Standards Institute on November 16, 1979, and known as ANSI A112.18.1M-1979. o Title 20. California Administrative Code Section 1606(b) (Appliance Efficiency Standards) prohibits the sale of fixtures that do not comply with regulations. No new appliance may be sold or offered for sale in California that :is not certified by its manufacturer to be in compliance with the provisions oC the regulations establishing applicable effiCiency standards. o Title 24 of the California Administrative Code Section 2-'B07(br California Enp.r Conservation Standards for New Buildin s prohibits the installation of fixtures unless the manufacturer has certified to the CEC compl,iance with the flow rat~'nllndards. o Title 24. California Administrative Code Sections 2-5352(i) and (j) address pipe insulation requirements. which can reduce water used before hot water reaches equipment or fixtures. These requirements apply to steam and steam-condensate return piping and reCirculating hot water Piping'in attics. garages, crawl spaces, or unheated spaces other than between floors or in interior walls. Insulation of water-heating systems is also required. ~ "" ~... ( ",'.c. ~, ..:.., '10'" o o " o Health and Safety Code Section 4047 prohibits installation of residential water softening or conditioning appliances unless certain conditions are satisfied, Included is the requirement that. in IDOst instance.. 'the installation of the appliance must be accompanied by water conservation devices on fixtures using softened or conditioned water. o Government Code Section 7800 specifies that lavatories in all public tacilities constructed after January 1. 1985. be 'equipped with self-closing faucets that limit flow of hot water. To be Implemented where applicable Interior: - , 1. Supply line pressure: inch (pSi) be reduced valve. Water pressure greater than 50 pounds per square to 50 psi or less by means of a pressure-reducing 2. Drinkin~ fountains: valves. Drinking fountains be equipped with self-closing 3. Hotel rooms: Conservation reminders be posted in rooms and restrooms.. Thermostatically controlled mixing valve be installed for bath/Shower. 4. Laundry facilities: Water-conserving models of washers be used. 5. Restaurants: Water-conserving models of dishwashers be used or spray eaitters that have been retrofitted for reduced flow. Drinking water be served upon reques t only.. '6. Ultra-low-flush toilets: 1-1/2-gallon per flush toilets be installed in all new construction. _ Exterior:. 1. Landscape with low water-using plants wherever feasible. 2. Minimize use of'laWn by limiting it t~.tawn-dependent uses. such as playing fields. When lawn is used. require warm season grasses. 3. 4. Group plants of ,similar water use to reduce overirrigation of low-water-using plants. Provide information to occupants regarding benefits of.low-water-using landscaping and sources of additional aSsistance. *The Department of Water Resources or local water district may aid in developing these materials or providing other information. \ .2- I , ! I i , , I I i I I ...-- e o 5. Use aulch extensively in all landscaped areas. Mulch applied on top of soil will improve the water-holding capacity of the soil by reducing evaporation and soil compaction. 6. Preserve and protect existing trees and shrubs. Established plants are often adapted to low-water-using conditions and their use saves water needed to establish replacement vegetation. 7. Install efficient irrigat.ion systems that minimize runoff and evaporation and maximize the water that will, reach the plant roots. Drip irrigation. soil moisture sensors. and automatic irrigation systems are a few methods of increasing irrigation effiCiency. . '. 8. Use-pervious paving material whenever feasible to reduce surface water runoff and to aid in ground water rechargp-. 9. Grade slopes so that runoff of surface water is minimized. 10. Investigate the feasibility of using reclaimed waste water. stored rainwater. or grey water for irrigation. 11. Encourage cluster development. which can reduce the amount of land being converted to urban use. This will reduce the amount of impervious paving created and thereby aid in ground water recharge. 12. Preserve existing natural drainage areas and encourage the incorporation of natural drainage systems in new developments. This aids gt'ound water recharge. 13. To aid in ground water recharge. preserve flood plains and aquifer recharge areas as open space. ...,..-- , . i \ , , , ,. I I J-. -~ , I I ! I I '21'\1- o o .' " FLOOD DAMAGE PREVENTION In flood-p~ne areas. flood damage prevention measures required to protect a p~posed development should be based on the following guidelines: 1. It is the State's policy to conserve water; any potential loss to ground water should be aitigated. 2. All building structures should be protected against a lOO-year flood. 3. In t.'lose areas not covered by a Flood Insurance Rate Map or Flood Boundary and Floodway ~Iap. 'issued by the Federal Emergency Management Agency, the lOO-year flood elevation and boundary should be shown in the Envi~nmental Impact Rep~rt., Ii. . , At least one route of ingress and egress to the development should be available during a l00-year flood. 5. The slope and foundation designs for all structures should be based on detailed soils and engineering studies, espeCially for hillside developments. 6. Revegetation of disturbed or newly constructed slopes should be done as soon as possible (utilizing native or low-water-using plant material). 7. The potential d_cge to the proPOlled developllen't by mud flow should be assessed and mitigated as required, 8. Grading should be limited to dry months to minimize problems associated with sediment transport during construction. ''',..~ , ~ '. n < " , ( I I '\ \ \ I ;2...; I ; ! -. , I I , , I I I .,....'" SlATE Of CALlFOINIA-au5INESS. TRANSPORTATION AND HOUSING AGENCY o o , -' r-. ,. C'. GEOItGE DEUlMEJIAN. Go...".". (', I DEPARTMENT OF TRANSPORTATION D1STI'CT e. P.O. lOX 231 SAN IfIN"IDINO. CA 92402 TOO (710) 3I~ May 3, 19S9 oS-SBd-Var-Var SCH 'S962130S Mr. Vincent Bautista City of San Bernardino 300 North "0" Street San Bernardino, CA 9241S Dear Mr. Bautista: We have received both the General Plan for the ,City of San Bernardino and the Draft Environmental Impact Report for the General Plan and have the following comments concerning the circulation element of these documents. The first area of concern is the traffic study on which both of these documents were based. We can not fully analyze this General Plan until the following points are clarified and/or corrected: o On Table 11, it would be helpful to have a list of the assumptions used so that a more complete analysis can be performed. o On Table 13, the percentages appear to have been , miscalculated and it is unclear where the 1.6 million retail trips have been generated from. "0 o Total bui1d~out of Regional statistical Area 29 is stated as 7.1 million trips which is more than all of Orange County at present. This seems improbable and we would like to see clarification of how this was calculated. On Page '4-100 of the Dra~t Environmental Impact Report, the future volumes for Interstates 10 and 215 are less than current Caltrans counts. o ~. ~ \ \ I I I I I~ I .....I I \ I Throughout both documents the words -trip end" and -trip" are used interchangeably which is incorrect. This may have falsely inflated the total number of trips. Table 13 adds the different land use types which~~e counts the trips that are made between diffifr. ~>tin~~ uses. , .Ii :1/ 'T'~ ~ . ![ ~)' "~~ t 1.(-<':. ,.r~' (t'b I ~." ""1- .GJpA ", c:'~ V '~>>.>: '<Ii' J3oi' "" (. ..,. ,........ "/ '':,'II'"'~:''' '.~;... o o o Mr. Vincent Bautista Page 2 May 3, 1989 o On page 3.2.1 of the Land Use Alternatives, the segment of Interstate 10 west of Interstate 215 will not be ade~ate and will require 10 lanes. The segment of Interstate 215 north of the proposed Route 30 Interchange should be 4 existing and will require 8 lanes in the year 2010. The development of facilities for the State Highway System and local roads in San Bernardino City are critical. to the Success of the circulation el_ent' of this General Plan. In response to these facilities we have the following comments: o The General Plan shall identify truck routes which shall have 50 foot curb radius at ramp entrances and interchanges. All bus routes should re~ire turnouts and minimum 30- foot curb radius with prOhibition of parking. o' o Each project along Interstates-10' and 215 should land dedication for future eXPansion and if residential, there should be noise attenuation. have o A Ramp Metering Policy for interchanges in the City should be formed and closely coordinated with the Department of Transportation. o I i The adopted routing for Route 18 between Route 30 and i Waterman Canyon Road shall be reflected in the General I Plan as per Division 1, Chapter 1, Article 2, of the Streets and Highways Code of the California Transportation Commission. o Route 66 should-be developed as a possible 6-lane facility with restricted..parking. , '. . i ! ramps Route 330 should have no access points other than or interChanges. In addition to facility management, a circulation element must contain strategi~s in. reference to demand mitigations and jOb/housing ratio to be effective. In reference to Demand Mana~ement strategies we have the following comments: o . ," I . i.: \".; . . , . . \:-:.~~.~~ ~ ~. '.. Y&'b? ;;. (P .:~^ - \'. 13 I \ \ \ . " '.' ',' .,_Cl o o Mr. Vincent Bautista Page 3 May 3, 1989 o Page 4-111 of the General Plan, mentions a Transportation Management Demand System which is a term we are not familiar with. If this is a corollary to a Transportation System Management (TSM) plan, we concur with that policy because it will efficiently manage large concentrations of traffic. o Page 4-94 of the General Plan states that bike trails are an important part of the city; however, the Draft Environmental Impact Report totally discounts their effect. We would like clarification of how the City . will use bike trails. The General Plan states the importance of transit in Policies 6.4.9, 6.4.10, and 6.4.11, which is contrary to the Draft Environmental Impact Report. The Draft Environmental Impact Report for the General Plan fails to consider transit in the overall circulation plan of the city. These inconsistencies should be corrected. o All transport of hazardous waste in Policy 6.3.5 of the General Plan should be made during off peak hours and each carrier should have a plan in case of spillage. o 3 o Neither document states any specific policy on ridesharing or demand reduction. o Both documents omit any analysis of how developers will participate in the funding of Park and Ride lots. o Given the large volume of traffic being generated, it will be necessary to examine which arterials will be updated to the status of alternate corridors to relieve congestion.and/or_reliance on the State highway. As mentioned earlier, demand management'will be an important part of the Circulation Plan, in addition facilities management which will effectively manage the traffic in the city. . ~In . -' o o Mr. Vincent Bautista Page 4 May 3, 1989 Each jurisdiction should effectively manage/reduce traffic generated. Another aspect of demand strategy is job/housing balance. We would like to see some analysis of jobs created in the city in relation to those who commute. In addition, it would be beneficial if an analysis of the interrelationship between the Economic Development Element and Circulation were included. . This last section will pertain to funding mechanisms for transportation facilities: o' If policies such as 6.1.11 and 6.1.14 in the General Plan are needed to maintain an acceptable Level of Service, then why does the Draft Environmental Impact Report state how unattainable they are? If this is true, the City should adopt a policy to fund the maintenance an acceptable Level of Service. o Policies 6.1.3 and Implementation 16.3 shall include State highways with local streets and roads. o All new development that significantly effects traffic should be reviewed by the City as stated in Policy 6.2.7 of the General Plan. caltrans shall also review all developments that have a significant effect on traffic. We have appreciated the opportunity to review the General Plan of San Bernardino City and look forward to future Dommunication. If you have any questions, please call Richard Malacoff at 383-4550. Very truly yours, '.. Dri&1lIa1 Signed by' "'ar..ey Sayyer ~,... , HARVEY SAWYER Chief, Transportation Planning Branch B RM:ldb cc: G Smith, DOTP .J Keen, State Clearinghouse . \5 \ I - - o o STATE OF CALIFORNIA GEORGE OEUKMEJIAN. Gcnemor PUBLIC UTILITIES COMMISSION 50' VAN NESS AVENUE SAN FRANCISCO, CA 94}07 April 4, 1989 Vincent Bautista City of San Bernadino 300 North D Street San Bernadino, CA 92418 Subject: California Public Utilities Commission (CPUC) Response to Draft EIR for City of San Bernadino General Plan (SCH# 89021308) Dear Mr. Bauti~ta, . The California Public utilities Commission's staff has reviewed the Draft EIR for the above-mentioned project. Please note that if altering at-grade crossings of rail tracks requires authorization of the CPUC. In addition, the CPUC requires that control of signalized intersections within 200 feet of railroad track crossings be pre-empted by train traffic. Please call Roy Lathrop (415-557-1429) if you have any questions about this comment. Sincerely, ,~~~~.4~~~ /Geo~g~e ~:)Sh Environ tal Program Manager Environmental Section Commission Advisory and Compliance Division cc: State Clearinghouse ...,... , ,-_.","\~-~.j!: .,- i,. " '_, . , A '.' 1/" ~ . . ,':Cfivr- ;,tlt 1 ...lJ ., lOOn '... oJr"r/. ." . I.Ilt.;o;.'" . '. 6l<f,h \-I:..:{,") 4- '2,. . -.. -. o .0 STATI 01 CAUfOll_ GlOlIGI DEUltMUAN. G__ CALIFORNIA REGIONAL WATER QUALITY CONTROL BOARO SANTA ANA REGION . 1809 INDIANA AVENUE. SUITE 200 'EIISIDE. CALIFORNIA 82508 .ONE: 17141782-4130 @ . ",. ; . . ..> ....... May 5, 1989 Vincent Bautista, Principal Planner San Bernardino City Planning Department 300 North D Street San Bernardino, CA 92418 DRAFT ENVIRONMENTAL nmACT 'RBPORT (BIR). FOR THE CITY OF SAN BERNARDINO GENBRAL PLAN, SCH 189021308 Dear Hr. Bautista: We have reviewed the above-referenced report and have. the following comments. The Draft BIR has indicated that iIIIpacts on water supply and wast_ater service will be IIIOnitored on a project-by-project basis. We agree that iIIIpacts on these services should be analyzed early in the planning stages of a project and-encourage developers to work with the appropriate agencies to lllitigate any potential adverse impacts. The City should also continue to work with the County in developing a solid waste management plan which benefits all concerned. r- ":) With the tremendous growth in population expected in the area within the next several years, the above stated areas of concern will be of critical iIIIportance, not only to the City of San Bernardino, but the entire county as well. We look forward to revi_ing any future CBQA documents related to this or any project within the City. j \ If you should have any questions, please contact me. -".... . , Sincerely, .... ;/' Arz~~/ --q?-e~/? Gary KrGeg~~ironmental Specialist II Regulations Section cc: John Keene, State Clearinghouse wiSCH form GLK/27S0SBGP.BIR ]13 e o Response to Comments from: State Office of Planning and Research (dated May 12, 1989) U1 Comment acknowledged. U2 See Comment B and associated responses. U3 See Comment Q and associated responses. U4 In response to comments from the California Public Utilities Commission: Comment acknowledged. Information concerning the crossings of roadways and rail lines will be considered on an individual basis with proposal of roadway im- provements. US In response to comments from the California Regional Water Quality Control Board: Comment acknowledged. ~JU llil TRANSPORTA TION/FLOOhCONTROL DEPARTMEN'- .... TNnI__ . 1M __..... CA "",-0131 . .7141.,,- ~~Qf~ _.; tal '*_ --s.Y ~ 7?f~/I'\\'~ May 11, COUNTY 0' IAN IIiIlNAllOINO IJMllONMIHTAL PUIUC WOIlIlI MINCY KEN A. MILLIII ~ 1989 v city ot San Bernudino Planninq Department 300 North "D" street San Bernardino, CA '2418-0001 Attention: c Iraes L. lUger File: 8CCTYl-12.03 0011,(;:-:.00-:: ~ ." -. ., ~ '.... .... " r. __' ... MAY 1. 5 1989 C'l-"" ......... ,'- "'E'''T II n.:.........;. ..Hili 1'1 S'" C"'... "J CA fUll &=.......l......... ~J Dear Mr. ~r: Re: Draft E.I.R. for City General Plan Reference i. llUlde to your letter of tranelllittal d.ated March 27, 1989 with accompanyinq Draft E.I.R., and technical Background Report for the City'S Draft General Plan, requestinq the District's review and cOllllllen1:s. . We note that exi.ting tlood.inq potential i. acknowledged by .~~.ptance ot gAle flood elevation trom the rederal Emerqency Mana~elllent Aqency Flood Rate Insurance Napa. Aoco~1nq to the E.I.R., tuture storlll drains are to tollow the San Bernardino County Flood Control District'. COlllprehensiv. Storm Drain Plans which apply. The.e plans are guideline. which lIlust be updateci by current bydrology .tucu... tor tho a&"oa ot concern, anei the _tom drain size. upgraded a. nec...ary. Should you have any further questions concerning this llUltter, ple..e te.l tree to contact Jay J. Johnson of this oftice, or myself at (714) 387-2515. ''I. . Very truly yours, LyQ~ ~iof Water R..OU~~ Divi.ion ..~ .~ ~":.,;,";~ - :':' IDG:JJJ: alm ..,~~~~;'~.,;J,-."-,_. :. ~~~');.. .~~. ,,;., ' , .... . :~..-~.~;r ~'F-""'-;'~:;' ..:",,~.. -=-~_.., . - ....:.. ':_'~-'.......~. ~:~: .;:'.;;:~..t.~ii.;;~-;:! . ~~ :~~~,,.2 -:',... . -" "::all:5' . ' ,~ .~ . . .'", 't . o G Response to Comments from: San Bernardino County Transportation/Flood Control Department (dated May 11, 1989) VI This comment discusses the future planning process with respect to flood control considerations. Comment acknowledged. ~IIA o o The following changes are being made to the text in response to oral comments and direction provided by the City of San Bernardino Planning Department: Page 5-1. The first sentence in the project description will be amended to read as fol- lows: 'The Draft Plan contains each of the seven elements required by State law: Land Use, Housing. Circulation, Conservation, Open Space, Noise and Safety. In addition, six permission elements have been prepared to reflect specific issues and objectives of the City: " Page 5-8. The first sentence in the first complete paragraph on that page will be amend- ed to read as follows: "For the purposes of evaluating the cumulative environmental impacts of the Draft Plan and adjacent regional growth, future conditions were forecast and are referred to as the 2010 projected growth scenario." Table 3. Changes to Table 3 will be made as appropriate to summarize any substantial changes that have been made to the text of the EIR through the public review period. Page 3-1. The second and third sentences on the page will be amended to read as fol- lows: "The City is generally bordered by the foothills of the San Bernardino Mountains on the north, Cajon Creek Wash on the northwest and the Santa Ana River on the south. The eastern boundary follows irregular City limits shared with the adjacent cities of Highland, Red1ands and to the south, Lorna Linda." Page 4-30. The last sentence of the first complete paragraph on the page will be amend- ed to read as follows: "Light industries such as research and development have, large- ly, been isolated to the Tri-City Commercenter areas in the south along the Interstate 210 corridor." The next paragraph will begin: "Streets and rights-of-way constitute the second largest use of developed land in the planning area occupying 5,694 acres (23.4 percent) of the land area. Public and quasi-public uses occupy 3,627 acres: or 14.9 percent of the area. co c o Page 4-31. The following sentence will be removed from the text: "Streets and rights- of-way constitute the second largest user of land in the planning area occupying 5,694 acres or 23.4 percent of the area." Page 4-35, Item 7. The first sentence will be amended to read: "A number of older dis- tricts of the City have experienced the replacement of existing development with higher density and intensity of uses." Page 4-35, Item 11. The reference to the Interstate 210 Freeway will be changed to refer- ence the Interstate 10 Freeway. Page 4-35, Item 12 will be referenced as follows: "Most of the City's commercial dis- tricts and corridors are designed for vehicular traffic and do not provide for or induce pedestrian activity." Page 4-36, Item 13. The last sentence will be amended to read as follows: '1iowever, recent federal decisions indicate that the facility will be closed and the future use of this significant property will have to be determined." Although no comments were received in writin~ from SCAG. oral comments were re- layed. Information follows in response: JOBS-HOUSING BALANCE In 1987, the planning area had a jobs-to-households ratio of 0.46 (based on 35,950 jobs and 78,102 households). As a consequence, there is a considerable out-migration of resi- dents to employment in other communities, increasing vehicular trips and adversely impacting air quality. This ratio compares unfavorably with the Southern California Association of Governments' regional standard of 1.2 and San Bernardino Valley stan- dard of 1.1. ~,Q. 1 o o Implementation of the Plan, on full buildout of the Land Use Plan, would result in a jobs-to-households ratio of 1.59 (166,199 jobs and 104,130 households). As a conse- quence, the City will be importing employees from adjacent communities, continuing to impact regional vehicular trips and air quality. These impacts are discussed in the Cir- culation and Air Quality sections of this EIR. 2.Q .~ r-- i ~ ~ "-,'--I' ( , ....,. .' ~"'.. ..- ....l4 ......,.. .;-"'i.~-.., - ~ <( . MIs--, ~.. .. C>>nllSNy . I ~ , ~. ;.)~ @ , ... "0 .. @... I . ..... .. ~ ~'" ... -..... ::t J 0 .. @ ~ <ill 1/ !:! .. .. ~ , -- ...... I ., ~.......~ .. ... @ ii . !! !! .. @ ....,..~ i. .. ~ 31 @ ,$I ,. @ !l! @ , ~ , @ ... co @ @ I " !l! .. ---- i @ !--.I ~ @ i @ ~ 0 2 .. ri! .. "l <> .. ~ :I ~ . , . . ~ ..,', -, ~ Cl .. g .. ~ W @ S! ... @, ; I'r""" "l ~ "l ~ ~-;,....~~ -," ., rr_/ r i 'f .. II) Cl .,..... !? @- ~ I .. ;; - i " lID J 5 . . iii . i . .~ .... c,,; ...\~ "'1 '.~ :-;.: :_~ ,..... . ~~. ,~ "'~.,~.; . or_:;. -~. ,', .'...-.'....: .- "-. j .....' I i ~ :i: ) <'j ~ i""'~_~_ ,...,. ," !'-", v-9~ $'/:i?"I/4'..9 IT~-J. .'~ ~..~, .l:.--i:-'.'--~":'~r~~~f-""~',~ -J i, ~.:......~~~-.W- .;:::.JT:....:.--~:.f-;-.:-...;.~~:--:r.-r: -~-~_.:'1i':'.""Fw._-;;i. c "". .. -'!' ~-~~!!IlIS:l1l1::;:' ~....tt,~~!l1ilIS:~~;'~:... .......;. PIN.. _ down / J CITY PLANNING DEPARTMENT Date 2:/ ().. ...i:,L8 9 SAN BERNARDINO. CA Name :r6..,tut SAt ~ ~ ?J Ar Phonetl3 -1/15- / b Y. / . Mailing Address 02LL)S fftL,vt AVE. &J. "'11ieR, OJ.. Zip 9 tP6 oj ReQUestlCommentsJl.ow ~A ~It . VII' ~. ',cfw hAAOrJl/>-h fIrM ~tV\..".~ ,# If . Cl.. LJ IJlTr ~ <II ~ ~ f-~~' tA1 hi /9~7 oJ hJEI b, 11 ~ ~ tU Mf-~~ rrN tJ.J ~~ tMt"~. jJ. W j}J J-~Jru.U z ~. 9' U,tft"4 - ,rf'/;M . f:; M./ ~JMi- Location of Property or Area of Concern (p (! Or }J e r tJ /0 JJ B FilUJ R.. ",1""'1 "". v'~"". ~Y..- .---...-/> ,":......~~...;t: .It ~-:-c",~-"":-'. -,-......-=-~- ~,,- 1II ( ... .-.:..' :C., ," ',..~ _L~~..."J~,.J).~' ~ ~"."'!"..~..1.,... 0" . __~.J~' ... .... ---= . .y.. .a;~,;,-,-:-;-..... :;;.~ ,';." ";jill';;;;"" W ""'i"---:--'- ' "'-"-~~ .J,,~...\~Y CITY OF SAN BE '~l..a A 7ATTAC~~ U . .,Hlr-1>.f1U'".. "'" GENERAL PLAN REVISION PROGRAM o rnoornu,m AUDIT TRAIL APR 281989 STAFF ONLY BELOW THIS UNE Existing IPD Designation Proposed General Plan Designation Existing Land Use Existing Zoning By Comments Date of Action PC MCC Action Comments ,7toOOl cs.-. . =-:... ., ~ f .::; ~