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HomeMy WebLinkAboutPlanning Comm Reports/1993/10/13 (10) GDP TEXT/MAP CHANGES Otay Ranch GDP/SRP Text and Map Changes 10/6/93 TEXT AND MAP CHANGES TABLE OF CONTENTS Clerical Text Changes . . . . . . . . PAGE 2-1 Text Changes to Conform the GDP/SRP to The Draft Findings of Fact . . . . . . . 2-6 Text Changes Reflecting Tentative Policy Decisions by the Chula Vista City Council And/Or Board of Supervisors 2-11 Village 3 - Industrial Sewer Service . . University Location and phasing Parks and Open Space Neighborhood Parks Village Libraries . . . Cultural Resource Studies preservation of Sensitive Resources Wetlands Mitigation Revenues Coastal Sage Scrub Habitat Setback Alta Road . . . . . . . . . Adult Education Facilities Village 13 Resort Buffers Transit Thresholds 2-12 2-13 2-14 2-20 2-21 2-22 2-23 2-24 2-25 2-26 2-27 2-28 2-29 2-30 Part III Implementation 2-31 Map and Land Use Table Changes 2-38 CLERICAL TEXT CHANGES ;I.-I DRAFT GDP/SRP COMMENT PAGE Universal Change all figures which reference dwelling units, acreages, land use categories, popula- tion and facility requirements to reflect the land use plan ultimately adopted. 7 1st paragraph, 1st sentence: "The purpose of the Otav Ranch GDP/SRP Ota) TIanch" 17 1st paragraph and first box: "Executive Staff Committee" 22 footnote: correct alignment on left side 36 4th Bullet, last sentence: I-80S should be SR-90S 38 1st bullet, last sentence: "This project SPA approval li for... II 43 1st paragraph: add period following "Nelson Sloan quarry" 51 1st paragraph following bullets: (-i-SPA) 6S 2nd Objective: replace " " with " " following , "surrounding villages" 89 2nd bullet under Parks, last sentence: liThe Otay Ranch Parks Plan identifies H 19 neiqh borhood parks." 101 1st, 2nd and last bullet under Transit Poli- cies: should be made the same as corrected policies per the last errata sheet: "Transit line right~-of ways shall be reserved at ODr/Snr SPA level and irrevocably offered for dedicateeion at the Tentative Map level within Villages 1,S,6,9 and 12. Trolley stops and/or stations shall be reserved at the ODr/ORr ~ level and irrevocably offered for dedicate<'i.i.Qn at the Tentative Map level in village core areas ;L ~ ,)- DRAFT GDP/SRP COMMENT PAGE 101 A 25-foot transit right-of-way shall be reserved at the GDP/GRP SPA level and irrevocably offered for dedicatedion at the Tentative Map level within village Entry Sheets designated as transit routes. " 107 2nd paragraph: inCOflsi8te.a.cy rc. freco.lay cOffifficL"cial acrc3.~e.. tCJrt Days 192.5, table 13. 1Ce oa} 0 leiS. 2 acres, tl:.:JC table: 11'0. "Adja- cent to the EUC is approximately 168 acres of freeway conunercial (Planning Area 12) ." 134 3rd bullet: Change (25 DUs/acre) to (2.5 DUs/acre) . 135 Last bullet, second sentence: "Restrict access to active quarry uses from adja- cent.. . " 142 3rd sub-bullet: nviews to the mountains on the east and soutlY..estcast. " 142 1st bullet under village Core policies: "A transit stop shall ~ reserved..." 147 2nd bullet, third sentence: "The average width and continuous aftd character of... II 149 5th paragraph, last sentence " .,. to secure service~, beyond those provided..." 155 1st bullet:.. .a transit/traRsit trollev stop. 160 2nd bullet, 2nd sentence " . . . based upon the fol16ning concept~ developed in the... " 164 4th bullet, 2nd sentence: " . . . based upon the folle./ili~ concepts developed in the... " 193 4th paragraph, first sentence: " with .. ., -Hte- some as small as one half acre. " 205 add heading above second to last paragraph: paseo Ranchero Industrial Area Setting 205 last paragraph: move text up to directly follow subheading of Open Space & Habitat 206 all paragraphs: move text up to directly follow subheadings 206 first paragraph: add " " after landfill , 0(...3 DRAFT GDP/SRP COMMENT PAGE 206 tables: change row heading "Commercial Acre- age" to "Industrial Acreage" 214 last paragraph, second sentence: delete peri- od following IIradiiu 225 4th paragraph, third sentence: "Carts- travel is permitted. .." 235 1st paragraph, last sentence: "recordation of the respective final map, M or final project approval. . . " 237 last paragraph: ".. . shelters for homeless person~. . . " 254 1st paragraph, first sentence: delete period following "Implementation" 259 1st paragraph, first sentence: add period following "safety" 259 2nd Objective: " . . .based on statistical models 10081':16 and engineering..." 307 3rd paragraph: Change 43,7 to 43.7 310 Goal: Add punctuation. 317 d. Facilities, First Paragraph "Within the Chula Vista Elementary School District, llH- Elementary Schools.. ." 329 4th Policy: "Allow preferential (free or reduced fee par](iR~) parking for... " 331 2nd paragraph, second sentence: Add "include" between "operate, II and "additional" . 334 Last Implementation Measure, correct spacing: IISan Diego-, II. 344 Remove Child Care and Solid Waste Management from Regional Facility Report list because Master Plans are required (consistent with Findings of Fact) . 359 3 . Title IIEnhance and RestfOrell 387 1st pOlicy:..."a dcmeRstratioR fa.rffi an aqri- cultural activities area.. . 387 Implementation Measure:...operation of the aCffiGR8tratioF.l.. farm aqricultural activities ~... " ;z -4- DRAFT GDP/SRP COMMENT PAGE 387 2nd Policy: . . . "Otay ni ~v cr Vallev Parcel. . . " 387 5th Policy: " or if contiguous to~ added .. . to the Preserve. . . " 387 last policy: "policies and guidelines shall be developed at the SPA level for conununity gardens .t;i thiR t.he dCDi~Rate.d opcn apace area:.) ..;i thiFl each urbaR .v.illagc adiacent to or within individual villaaes. Some conununi- tv qardens mav be located within open space areas beina maintained bv an ODen SDace main- tenance district. with specific desiqn and maintenance issues to be addressed durinq the SPA plan review. " 389 2nd paragraph, last sentence: liThe number in parenthese<2. used below.. " ~-5 TEXT CHANGES TO CONFORM THE GDP/SRP TO THE DRAFT FINDINGS OF FACT ~-~ DRAFT GDP/SRP PAGE 113 COMMENT Add new sub-bullets: o Buffer and/or transition techniques should be developed which deal with the transition between different vil- lages within and outside of the pro- posed Project. o view corridors shall be integrated at the terminus or periodically along the length of streets paralleling or intersecting undeveloped open space. o Walls, including acoustical barriers, shall be integrated into the archi- tectural theme and scale of the vil- lages. o Landscape themes shall be used to define village character and blend with adjacent existing development. o Naturalizing and native plantings shall be integrated into revegetation plans for manufactured slopes adja- cent to open space areas. o Scale and architectural treatments (i.e., rooflines, building materials) of all residential and non-residen- tial village buildings shall be di- verse and yet compatible. o Signage shall be controlled and de- signed to fit in the pedestrian envi- ronment. o Buffer techniques shall be developed to address transitions between vil- lages and incompatible land uses to minimize visual impacts. o Architectural colors for development adjacent to open space areas shall incorporate natural tones and shades. ,)...1 DRAFT GDP/SRP PAGE 176 and 190 COMMENT Add new Village policy: o Buildings shall be visually compati- ble in terms of height, scale, and bulk and shall be set back from the edge of the mesa and composed of low- rise structures, no more than three stories in height, with occasional four story buildings. o Buildings shall maximize the use of non-reflective/non-glare surfaces. 177 Add to first bullet: To mitigate visual and policy impacts from the realignment of Otay lakes Road, a sce- nic roadway, a visual resources evaluation shall be conducted by the applicant once the actual roadway alignment and surround- ing development have been determined to identify key view corridors that would be available to travelers. Significant views of Lower Otay Lake and the San Ysidro foothills and mountains shall be preserved by a combination of the following mea- sures: Heights of buildings adjacent to the southern edge of the roadway shall be limited to heights which enable views of the lake and surrounding hill- sides, or site planning adjacent to the southern edge of the roadway shall enable view corridors of the lake and surrounding hillsides. Viewing areas shall be established along the roadway corridor to allow travelers to stop and enjoy the view above the lake. ;2..8 DRAFT GDP/SRP PAGE 178 178 (End of Section) 191 (End of Section) 190 379-380 COMMENT Add policy to Grading and Landform Poli- cies: Policy: The abandoned Otay Lakes Road alignment shall be rehabilitated and open for pedestrian and bi- cycle viewing access. Rest ar- eas and vistas shall be incorpo- rated into the rehabilitated walkway or promenade. Add section Other policies: The Project plans shall be submitted to the Federal Aviation Administra- tion (FAA) for review as soon as pos- sible to determine whether or not land use incompatibilities exist be- tween the proposed Project and the existing San Diego Air Sports Center. If it is determined by the FAA that such incompatibilities exist, then the SPA plan shall be designed to fully comply with the FAA. The pro- posed Project Application shall then revise the proposed Project's phasing plan to allow for use of the sports center until its option expires. [Conform to Final Findings of Fact Language. ] Add new village Charactor pOlicy: o Color schemes shall be limited to natural colors that blend with the existing environment and surrounding hillsides. Add new policies to 3. Steep Slopes. o policy: Roadways shall be designed to follow the natural contours of hillsides and minimize visibili- ty of road cuts and manufactured slopes. .). Jj DRAFT GDP/SRP PAGE 379-380 policy: Policy: policy: Policy: COMMENT Excessive use of manufactured slopes ~n the Otay River valley, Jamul and San Ysidro Mountains, and the area around Otay Lakes shall not be permitted. Natural buffering (e.g., unde- veloped open space) shall be provided between development and significant landforms, including the Jamul and San Ysidro Moun- tains. variable slope ratios not ex- ceeding 2:1 shall be utilized when developing grading plans. __% of the steep slopes (steeper than 25%) shall be preserved. [Complete consistent with final Findings of Fact.] ;J. ....ID TEXT CHANGES REFLECTING TENTATIVE POLICY DECISIONS BY THE CHULA VISTA CITY COUNCIL AND/OR BOARD OF SUPERVISORS J~II VILLAGE 3 - INDUSTRIAL (CITY OF CHULA VISTA) Modify the GDP/SRP, Page 68 as follows: I Industrial This category includes light manufac- turing, warehousing, flexible use buildings and public utilities. Very limited amounts of restaurant and office oriented commercial are also permitted. villaae 3 Primary Land Use Desianation: The area indicated on theGDP/SRP Land Use MaD as Villaae 3 has a Drimarv land use desianation as Industrial. Secondary Land Use Desianations: Villaae 3 also has secondary land use desianations for villaae Durnoses as described in Part II. Chanter 1. Sec- tion F3. This area maY be develoned for said secondary land uses only if and when Plannina Area 18a. desianat- ed on the GDP/SRP Land Use Man as Industrial. is de-annexed from the City of San Dieao and annexed to the City of Chula Vista. and remains des- ianated as Industrial Use. J - J).. SEWER SERVICE Modify the GDP/SRP, Page 186 as follows: (CITY OF CHULA VISTA, COUNTY OF SAN DIEGO ACTION PENDING) o "The Drovision of sewer service is not nrecluded in Plannino Area 14. Modify the GDP/SRP, Page 191 as follows: o "The Drovision of sewer service is not Drecluded in Plannina Area l7." (CITY OF CHULA VISTA) o "The provision of sewer services is Drecluded in Plannina Area ~ (COUNTY OF SAN DIEGO) Modify the GDP/SRP, Page 196 as follows: o "The Drovision of sewer service is not nrecluded in plannino Areas l6 and 19. 01-/3 UNIVERSITY LOCATION AND PHASING Note: The following sections of the GDP/SRP are recommended for modification: Page 68: Land Use Designations Page 87: Components of Land Use Plan Page 109: Potential uni versi ty Page 153 : Village 9 Description Page 155: Other village 9 policies Page 157: Village 9 Graphic Page 158: Village 10 Description Page 160: Other village 10 Policies Page 161 : Village 10 Graphic Page 342: Phasing J -/4- Modify the GDP/SRP, Page 68 as follows: University University Primary Land Use Desianation: Site The area indicated on the GDP/SRP Land Use Man as the Uni versitv Site has a nrimarv land use desianation as a university site. At any time. this area may be develoDed for a univer- sitv camDUS and ancillary uses such as camDUS related commer cial. residential. and research and deve10Dment SUDDort servic- es. However. use of the area west of Wueste Road. east of Hunte Parkway. bv a camnus is nermitted. Drovided that the use of Salt Creek Canyon (includina definina sloDes) is limited to trails. nassive recreation. and to bioloaical research and edu cational activities in keeDina with the Dreservation of sensi tive habitat and bioloaical sne- cies located here. No buildinas or structures shall be Dermitted within Salt Creek Canyon. Secondary Land Use Desianation: The university Site also has secondary land use desianations: the land within Villaaes 9 and 10 has secondary desianations for villaae Durnoses as de scribed in Part II. ChaDter 1. Sections F9 and FlO. and the area west of Wueste Road. east of Hunte Parkway. has a second- arv desianation as ODen SDace. This area may be develoned for university nurnoses at any time. )-/5 university university This area may be develoDed for Site said secondary land uses only (Continued) after the develoDment of "West- ern Phases 1. II and III" . as identified in the Otav Ranch Phasina Plan. has been comnlet- ed. Comnletion of such develoD ment for Durnoses of this re- auirement shall be deemed to be the issuance of buildina nermits for 75% of the residential units in Phases I throuah III. *** Uni.rcr8ity URi~" ers i tl oite petcFltial is iRdicatca ~ tllis de.Di@"flatisfl. 'J'fic locatiofl io CORsiotCRt n~i th rcoelutiens of the. City of Chtlla Vista, County of CaR Die:g-o .J.nd City of Can Diego. l. CeRcr;).l rlaR I.J'RCRdmCRt is rCfIuircd for implcmc:atatioFl af this laRa 1:1SI:. Modify the GDP/SRP, Page 87 as follows: e. University The GDP/SRP Land Use map identifies ~ tfic ~cRcral location for ~ tfie petcRtial university campus in the area delineated as villaae 9 & 10. as well as the area west~ of Wueste Road (Salt Creek). \iith. QR l1.H.aerl) iR~ laRd use. clC6i~flQ.tica~ sherula the Uni.>I ersity af C:llifernia dcciae:. Hot to locate in thio areft. The purpose of this land use tfiC6C designationft is to afford a university tfi6 URivCF6ity ef CaliferRia the opportu- nity to locate a university campus at this location,~fi6ula tfic Uni~y.croity occ]c to aa 00. Modify the GDP/SRP, Page 109 as follows: 4. potential university The University of California Regents have expressed their intention to construct three new University of California campuses over the next 20 years, one of which will be sited in Southern California. On October 6, 1989, The Baldwin Company and the City of Chula Vista jointly submitted a proposal to the University of California Board of Regents to locate a new university campus on Otay Ranch. The proposal identified a site near Wueste Road overlooking Otay Lakes and adjacent to the United States Olympic Training Center. During 1992, the City of Chula Vista and San Diego City Councils and the d-/h County Board of Supervisors approved resolutions supporting the Wueste Road location for a university, subject to several condi- tions; notably, that an environmental process be completed assuring the identification and protection of significant resources. The GDP/SRP Land Use Map delineates the ~cncral location for ~ potcRtial a university campus in areas within villaae 9. Villaae 10 and west~ of Wueste Road. It is the intent of this GDP/SRP to reserve the land so desianated for a university for a Deriod of time denendent UDon Dhased develoDment as set forth in the University nolicies below. after which other uses. as described herein. may be develoDed on that land. If tfie URi7creity of C:lliforflia de:e:iclc3 t.o located. OR the Otay TI.J.flch, the enact oic€: of the campu:J, CJGlct lec.J.tiea aRa ifltCRsity of RCCCOGary oupport L::u.~.cl uoco .n"ill be oubj cet to discrctioflar.l action b~ the appropriat.e ~ovcrnmcRtGl agency. University Policies o The CDI',' SRI' LaRa Doc Hap ohall oymbolico.ll} a. srcficral locatioR for 3. tlRi..crsit} camptls .;cotcrly of vluc8tc noad.. ~hc gcncral locatioF.l.. ohall iFlcludc, but not be limited to, 1.991/ (usable) acreD ad) accRt to t'}ucotc n03a.. The area ohall a166 be o.o:Jigncd i3.Fl u:adcrl:ying 1,::1.1"16. use dcoignatien uhieh ohall ee utilized, 6fie~ld the Uni~croity of Califernia clccidc flot to locate in tHe .J.Eca. o The area indicated on the GDP/SRP Land Use Man as the Univer- sitv Site has a Drimarv land use desianation as a university site. At any time. this area may be develoned for a university camnus and ancillary uses such as Camnus-related commercial. residential and research and develoDment SUDDort services. However. use of the area west of Wueste Road. east of Hunte Parkway. bv a camnus is nermitted. nrovided that the use of Salt Creek Canyon (includina definina sloDes) is limited to trails. Dassive recreation. and to bioloaical research and educational activities in keeDina with the Dreservation of sensitive habitat and bioloaical snecies located there. No buildinas of structures shall be Dermitted within Salt Creek Canyon. o The university Site also has secondary land use desianations: the land within villaaes 9 and 10 has secondary desianations for villaae nurnoses as described in Part II. Chanter 1. Sections F9 and F10. and the area west of Wueste Road. east of Hunte parkwav. has a secondary desianation as on en snace. This area may be deve10Ded for university DurDoses at any time. This area may be develoned for said secondary land uses only after the develoDment of "Western Phases 1. II and III". as identified in the Otav Ranch Phasina Plan. has been comDleted. ComDletion of such develoDment for DurDoses of this remlirement shall be deemed to be the issuance of buildina Dermits for 75% of the residential units in Phase I throuah III. d.-17 o SPhe Uni~v croity of CaliforBia ohoula be rCCIuirca to prepare an En~v~ironmental Impact TIC]?Ol:t ~nTIiCh .Jould. iacBtify aBa protect ~ff} Oi~Bific~flt cBvironffiCFlt~l reoourcco that c~nnot be mitigatcd. o The Uni~v~eroity of CalifcrBia should be reCIuirca tc prepare The Drocessina of university develoDment Dlan shall include an analysis te eRB~Ee Qf compatibility with adjacent villages, conformance with all nublic facility Dlans. includina Darks. and consistency with the RMP. o If the uBi. eroity elect::; to loca.te ~.;ithiB the UaBa~cmeBt ['reDer.e, the Reoource HaIla~CIRcflt ['Ian ohal! be re eVllluatecl. to casure that the oitiRg of thio facilit} aoes flct interfere ~.;ith or .:J.d.verscl} iffipact. the goalo, obj ccti ~\'~eo ana policies of that. I?laR. o If thc university ohall Be adopt cd protcction. clecto to to addrcoo locate, deoign, pcrformancc otandards .::tcce:Jo .::tIld reoource o If the ~niJer6ity rc~uireo more laRd thaR deoigRated by the CDP/SRr LaRd. Use !tap, traBsfers of rcoidcIltia! dCIloity ohall be c)caffiinea oR a ca.oe by case Basio. o If the a uni-J-.:croity requireD Otay TIaFlch laRd desigHatea by the CDI\'Cnr LaRa Uoe Ha.p aD nei~hBorhccd or coFAfftURity pa.r](, the !oc~l p;:lr]c rcquircfficnto ohall be rc\~ic..;cd on a caoc ~- case baoio. Modify the GDP/SRP, Page 153 as follows: The Drimarv land use for Villaae Nine is desianated as a Universi- tv. Part II. ChaDter 1. Section D. herein. describes this land use. See also Part II. ChaDter 9. Section B. for nhasina nolicies. The secondary land use for Village Nine consists of ~ an Urban Village with transit/trolley. Urban Villages are adjacent to existing urban development planned for transit oriented development with higher densities and mixed uses in the village cores. Village Nine contains: Modify the GDP/SRP, Page 155 as follows: ::) 'l?he mi){turc of laRa U8eo, deRsitico, aHa ocr-..:icco rC(Iuirca for a uaivcrDitj- ~ caUDe chaRgeD in the fabric of the community eaot of cn 125. SPhio ~illa~c and adjaceflt villa~cs ohall DC rc CJ~affliRe)d, sHould the) Uni-;ersity be locatcd '"ithin the Otay n.J.Rch. d-/8 Modify the GDP/SRP, Page 157 as follows: Add graphic showing university as the primary land use. Modify the GDP/SRP, Page 158 as follows: The Drirnarv l~n~ us~ for Villaae Ten is desianated as a university. Part II. Cha_t r 1_ Section D. herein. describes this land use. See also Part II. ChaDter 9. Section B. for Dhasina Dolicies. The secondary land use for Village Ten consists of ~ an Urban Village. Urban villages are adjacent to existing urban development planned for transit oriented development with higher densities and mixed uses in the village cores. village Ten contains: Modify the GDP/SRP, Page 160 and 165 as follows: :J The l,J,ncl tiDeS for thio v~ill.::lgc arid 3..djaccRt .rillagcs l,.,rill he rc cnG.ffliacd, oheuld the URiycroity he located "uitfiiFl tae Ot~. no.nch. g?fic mixt:l1.J:c of laRd useD 1 dCFlsitico, ana ocr-\r-ie:eo required for a uRi~croity may require chaRgeD in the fabric ef the cCffiffiunity cast ef cn 125. Modify GDP/SRP, Page l61 as follows: Add graphic showing university as the primary land use. Modify GDP/SR, Page 342 as follows: The University ;ite may be develoDed for university DurDoses at any tim~. This ar a may be develoned as secondary villaae land uses onI. after the comDletion of "Western phases 1. II and III. as identified in the Villaae Phasina Plan. See also GDP/SRP, Part II. ChaDter I. Sections F9 & F10. d--/ PARKS AND OPEN SPACE POLICIES (CITY OF CHULA VISTA) Modify the GDP/SRP, Page 125 as follows: o wildlife corridors shall be provided across Paseo Ranchero linking Wolf and poggi Canyons as shown on the GDP/SRP Land Use Map, inDut should be solicited from aRa aeee~taslc to the U.S. Fish and Wildlife Service. PARKS AND OPEN SPACE POLICIES (COUNTY OF SAN DIEGO) Modify the GDP/SRP, Page 125 as follows: o wildlife corridors shall be provided across Paseo Ranchero linking Wolf and Poggi Canyons as shown on the GDP/SRP Land Use Map, innut should be solicited and recommendations be considered from aRa accc~taslc to the U.S. Fish and Wildlife Service. d. ...;).0 NEIGHBORHOOD PARKS ACTION PENDING) (CITY OF CHULA VISTA; COUNTY OF SAN DIEGO Modify the GDP/SRP, Page 243 as follows: Neighborhood Parks: Neighborhood parks are located to serve people within a 1/2 to 3/4 mile radius within each residential village. These parks serve the day-to-day recreational needs of local residents. Each neighborhood park should be a minimum of 7 acrcs, uith aa a-"cragc size: of 10 acres, ana be sited in conjunction with a school site wherever feasible. The size and location of neiahborhood Darks shall be deter- mined at the SPA level of Dlannina. Neighborhood park facilities typically include tot lots, parking, rest rooms/maintenance buildings, playground equipment and play areas. The neighborhood parks are located in or adjacent to the village core, within the residential areas of the village. Pedestrian trains are provided to link these neighborhood parks to the residential neighborhood parks to the residential neighborhoods. In the more populated villages, neighborhood parks may be supplemented by town squares. dl- ;/.{ VILLAGE LIBRARIES (CITY OF CHULA VISTA; COUNTY OF SAN DIEGO ACTION PENDING) Modify the GDP/SRP, page 314 as follows: New Policy: "The library facility standard may be satisfied throuah the Drovision of decentralized facilities within villaaes. The size and character of these facilities will be determined. in Dart. bv the necessary oneration structure and cost bv lurisdictional arranaement at the SPA level." d'" ;}.;}. CULTURAL RESOURCES STUDIES Modify the GDP/SRP, Page 351 as follows: 3rd POlicy: "In conjunction with the first SPA in the f'fiaBe 2 ruff' Otav Valley Parcel, complete cultural resource studies to assess cultural resources throughout Otay RaRch the Otav Valley Parcel." New POlicy: "In coniunction with the first SPA in the Proctor Valley Parcel. comDlete cultural resource studies to assess cultural resources throuahout the Proctor Valley Parcel." New POlicy: "In coni unction with the first SPA in the San Ysidro Mountains Parcel. comDlete resource studies to assess cultural resources throuahout the San Ysidro Mountains Parcel. .J,d3 PRESERVATION OF SENSITIVE RESOURCES (CITY OF CHULA VISTA) Modify the GDP/SRP, Page 353 as follows: Implementation Measure: Preservation and restoration activi- ties shall be consistent with the guidelines of -E-fte ..aI!:i: aDDlicable reaional ODen snace/resource nrotection nroaram MSefl and shall result in equal or greater overall habitat values than occur under existing conditions. ;Z - J.. If- WETLANDS MITIGATION REVENUES Modify the GDP/SRP, Page 358 as follows: "Opportunities and plans for mitigation banks shall be developed in conjunction with the preparation of wetlands enhancement plans for the Otay River Valley and the vernal pool preservation plan in conjunction with the Phase 2 RMP and the first SPA. All revenue generated by wetlands mitigation banks shall be given to the Prcscrve O'.fficr(i3)/UaRa~er(s) to fund Preserve activities." J....;),5 COASTAL SAGE SCRUB HABITAT SETBACK (CITY OF CHULA VISTA; COUNTY OF SAN DIEGO ACTION PENDING) Modify the GDP/SRP, Page 358 as follows: 2nd Bullet: "Gnatcatcher or cactus wren occupied coastal sage scrub habitat shall be provided with a setback of 298 fCEt, ',;ith rcductioft to lno less than 100 feetl beift~ alle..ed eft a case By case sasis, determined in consideration of topography or other factors cletcrmiRca through additional study at the SPA level. ["Occupied habitat" includes the area encompassed by a bird's foraging territory.]" c2 -;Jfo ALTA ROAD (CITY OF CHULA VISTA) Modify the GDP/SRP, Page 91 as follows: Revise map to delete Alta Road Modify the GDP/SRP, Page 211 as follows: Delete reference to Alta Road from Circulation Element Road list. J.~;).7 ADULT EDUCATION FACILITIES Modify the GDP/SRP, Page 316 as follows: 8. School Facilities c. Goals, Objectives, policies and Implementation Measures GOAL: COORDINATE THE PLANNING OF ADULT EDUCATIONAL FACILITIES WITH APPROPRIATE DISTRICT. Policy: Provide for the reservation of one for adult educational facilities residents of Otav Ranch. or more sites to serve the ImDlementation Measure: Provide for the reserva- tion of sufficient land/floor SDace within the EUC for the Sweetwater union Hiah School District adult education facility. d-~: VILLAGE 13 RESORT BUFFER (CITY OF CHULA VISTA) Fifth bullet Modify the GDP/SRP, Page 176 as follows: "Buffer the lake edae from develoDment throuah a variable setback and landscanina reauirements to be determined at the SPA level." d-J.9 TRANSIT THRESHOLDS Modify the GDP/SRP, Page 210 as follows: ImDlementation Measure: No more than 15.000 dwellina units or 4.000.000 sauare feet of commercial use within the EUC shall be annroved for the Otav Valley Parcel until such time as the fundina is ann roved and construction is assured for the liaht rail transit system. II ;< ~?J) PART III, IMPLEMENTATION REPLACE PART III IMPLEMENTATION WITH THE ATTACHED TEXT (CORRECTED TO REFLECT FINAL REQUIREMENTS AND PAGE NUMBERS) . ~~I OtmJ Ranch GDPISRP o Part ill Part m Implementation Introduction This Chapter summarizes the tasks that must be performed as a condition of approval of Otay Ranch SPAs. The source of the listed requirements Is Part I and Part II of the GDP/SRP. The listing Is presented to assist the public and governJng agenCies to more completely understand the various SPA processing requirements. This Chapter neither establishes new or different requirements from those Identified In the GDP/SRP. nor alters the obligation to perform requirements contained In the GDP/SRP. The Implementation requirements are organized Into four categOries: Q Project-wide Tasks Q SPA Tasks Q Annual Tasks Q SPA Specific Tasks The project-wide tasks Include those to be performed as a condition of the first Otay Ranch SPA. regardless of which vtllage or planning area Is the subject of the first application. SPA tasks must be performed as a condition of each Otay Ranch SPA. Annual tasks must be performed annually. regardless of which SPA Is being processed. Primarily, major tasks are listed. Other tasks. subordinate to the major tasks must also be performed. Specific SPAs tasks must be performed In connection with SPAs which contain specific vtllages or planning areas. ;;( - 3;l OtmJ Ranch GDP/SRP o Part ill PROJECT WIDE IMPLEMENTATION TASKS 1. Overall Design and Land PIaDII 1.1 Develop an Overall Design Concept for the Three Parcels............................................. 112 1.1.1. Establish a Design RevIew Process........................................................................... 114 1.1.2. Develop a Schematic Design Plan for the Arterial Road System and Scenic Corridors ................................................................................................ 112 1.1.3. Develop Landform Grading Guidelines ....................................................................112 1.1.4. Ident11Y the Locatlonal Slgnage Concept..................................................................112 2. Facllity Muter Plana 2.1 Prepare a Child Care Master Plan ..................................................................................284 2.2 Prepare a FIre Protection and Emergency Medical Master Plan...................................306 2.3 Prepare a Law Enforcement Master Plan.......................................................................311 2.4 Prepare a Library Master Plan .......................................................................................314 2.5 Prepare a Parks, Recreation and Open Space Master Plan ...........................................247 2.5.1. Prepare a Local and Regional Trail System Plan..................................................... 239 2.6 Prepare a School Master Plan ........................................................................................319 2.7 Prepare a Sewer Master Plan.......................................................................................... 264 2.8 Prepare a Water Master Plan ..........................................................................................274 2.9 Prepare a Water Reclamation .Plan................................................................................ 276 2.10 Prepare an Urban Runoff Plan .......................................................................................270 2.11 Prepare an Integrated Solid Waste Management Master Plan ...................................... 268 2.12 Prepare a Build-Out Transportation Model AnalysiS.................................................... 240 3. Phase n RMP 3.1 Complete the Cultural Resource Swvey .........................................................................351 3.2 Complete Habitat and Population Studies for the Gnatcatcher and Cactus Wren ............. ........ .......... .......................... ................ ................ .............. ............. 351 3.3 Complete Studies of Raptor Foraging and Habitat........................................................351 3.4 Develop a Vernal Pool Preservation and Management Plan.........................................357 3.5 Prepare a Vernal Pool Study...........................................................................................351 3.6 Complete a Wildlife Movement Corridor Study.............................................................351 3.7 Consult with Resource Agencies ..................................................................................... 376 3.8 Negotiate a MOA with Resource Agencies.......................................................................376 3.9 Prepare a Procedure/Process for Amending the RMP....................................................377 ~-33 Otan Ranch GDP/SRP 0 Part III 3.10 Refine the Preserve Boundartes...............................................................................377-378 3.11 Evaluate Management Responslbl11ty for the Otay River Valley..................................370 3.12 Develop an Order of Conveyance Plan............................................................................367 3.13 Prepare a FInanCIng Plan for RMP Implementation.................................................... 369 3.14 Select a Permanent Owner/Manager..............................................................................364 3.15 Develop a Range Management Plan................................................................................376 3.16 Develop Conceptual Infrastructure Plans......................................................................373 3.17 Establ1sh a Comprehensive Biota Monitoring Program........................................366-377 3.18 Identify Locations of Permitted Uses In the PreseIVe....................................................370 3.19 Identify a Potential Location of a Nature Interpretive Center................................369-370 SPA IMPLEMENTATION TASKS 4. SPA Land Plan 4.1 Prepare SPA Land Use Plan.................................................................................... 111.342 4.2 Prepare a Village DesJgn Plan..................................................................................112-114 4.2.1 Identify a DesJgn RevIew Process.............................................................................. 114 4.2.2. Prepare Grading ..Plans.................................................................................... 111,381 4.2.3. Prepare Architecture Plans ......................................................................................111 4.2.4. Prepare Landscaping Plans ......................................................................................111 4.2.5. Provide Standards for Publ1c and PrIvate Streets................................................... III 4.2.6. Review Community Garden Requirements ..............................................................359 4.3 Perform a Visual Analysis Study ...................................................................................114 4.4 Prepare a Noise Abatement Program .............................................................................332 3. PubHc Facilities yt.....('I..1I II: PhulDg Plan 5.1 Prepare a Public Facilities Financing & Phasing Plan .................................................342 5.2 Inventory of Existing and Proposed Factlttles ..............................................................343 5.3 Prepare a Fiscal AnalysiS...............................................................................................342 5.4 Prepare a Capital Factlttles Plan ...................................................................................343 5.5 Prepare a VtJIage Vlabtltty Analysis..............................................................................345 5.6 Update Village Phasing Plan ..........................................................................................342 6. RegIonal FacWtlea Report 6.1 Prepare a Regional Facilities Report..............................................................................288 6.1.1 Prepare a Community and Regional Purpose Facilities Report..............................288 6.1.2 Review the Demand for Cemetery Factlltles............................................................281 Determine the Destrablltty of Memorial Gardens...................................................281 d. -34- OtmJ Raru:h GDP/SRP o Part ill 6.1.3 Establ1sh Design Guidelines for an Arts/Cultural Facil1ty.....................................280 6.1.4 Identify Social and Senior Services Facilities .................................................296-297 6.1.5 Prepare a Correctional Facility Report....................................................................301 6.1.6. Prepare a Justice Facility Report..............................................................................301 6.1.6 Prepare a Health and Medical Facility Report.........................................................288 7. SPA Master FacWty Plana 7.1 Prepare an Air Quality Improvement Plan....................................................................330 7.2 Prepare an Animal Control SPA Master Plan...............................................................298 7.3 Prepare a Civic SPA Master Plan ............................................................................299-300 7.4 Prepare a Drainage SPA Master Plan............................................................................. 261 7.4.1 Prepare a Watershed Impact and Protection Report................................................270 7.4.2. Prepare a Basin Specific Drainage Improvement Plan ...........................................261 7.5 Prepare a Fire Protection/Emergency Service SPA Master Plan..................................306 7.5.1 Prepare an Emergency Disaster Plan........................................................304. 334-335 7.5.2 Prepare a Fire Break and Fuel Modtftcation Plan...................................................306 7.5.3 Prepare a Fire Suppression Analysis/DeSign Plan .................................................306 7.5.4 Evaluate the Residential Fire Suppression Sprinkler Systems.............................. 305 7.6 Prepare a Law Enforcement SPA Master Plan...............................................................311 7.7 Prepare a Library SPA Master Plan ...............................................................................314 7.8 Prepare a Parks SPA Master Plan..................................................................................247 7.9 Prepare the School Master SPA Plans ...........................................................................319 7.10 Prepare a Sewerage SPA Master Plan.............................................................................263 7.11 Prepare a Transportation SPA Plan ..............................................................................228 7.11.1 Design a Phased Transit Plan................................................................................... 228 7.11.2 Design a Phased Bicycle Plan ...................................................................................228 7.11.3 Design a Phased TraIl Plan.......................................................................................228 7.12 Prepare a Water SPA Master Plan ..................................................................................274 7.13 Prepare a Water Reclamation SPA Plan................................................................. 276.384 7.14 Prepare a Water Conservation SPA Master Plan................................................... 274.385 7.15 Prepare a Child Care Facility Master Plan ....................................................................284 7.16 Prepare an Integrated Sol1d Waste Management Plan................................................... 268 8. Community Gudens 8.1 Prepare Policies and Guidelines for SPA Community Garden...................................... 387 9. Biological ReIIOIUCeS/RMP Implementation 9.1 Complete SPA Specific Biological Resource Plan..........................................................377 9.2 Implement Coastal Sage Scrub Restoration Plans........................................................360 ;;',,35 OtmJ Ranch GDP/SRP 0 Part III 9.3 Implement Native Grasslands Plan...............................................................................362 9.4 Implement Restoration Program for Riparian Habltats...............................................361 9.5 Implement Wildlife Corridors Plans..............................................................................363 9.6 Conduct Wetland Delineation SUIVey ............................................................................358 9.6.1 Identify Areas Subject to CDFG Streambed Alteration Application ...... ................ ............................ ........ .............. .................... ........ ...........376 9.7 Identify SPA Specific PreseIVe Boundary Modifications.............................................. 377 9.8 Prepare "Edge Plan".... ......... ........... .......... ........ ...... ...... .... ...... ..... ........ ...... ...... ................ 374 9.9 Demonstrate that Mitigation ActMUes are Financially Feaslble...............................370 10. Energy Conservation 10.1 Prepare a Non-Renewable Energy Conservation Plan...................................................381 11. Geo~hnl~1 Review 11.1 Provide Geotechnical Investigations .............................................................................379 12. Cultural Re8ource8 12.1 Prepare a Cultural Resources Plan .................................................................................351 13. Housing 13.1 Prepare a Housing Program SPA Master Plan........................................................233-234 13.1.1 Develop Regional Share Allocations........................................................................233 13.1.2 Prepare an Affirmative Fair Marketing Plan..........................................................236 13.1.3 Support the Use of Accessory Units.......................................................................... 235 13.1.4 Identify Housing Opportunities for Spec1al Needs Groups.......................................235 14. Jurlsdic:tionallalmes 14.1 Establish a ReseIVe Fund Program.................................................................................257 14.2 Negotiate Property Tax Agreements...............................................................................256 ANNUAL IMPLEMENTATION TASKS 115. Annual Review 15.1 Provide an Analysis of Compliance with Threshold Standards................................... 345 15.2 Determine Annual Development Projections... .... ..... ............... .................... ...... ...........345 15.3 Project Facilities Needed To Meet Threshold Standards...............................................345 15.3.1 Identify Recommendations for Alternative Compliance........................................345 15.4 Prepare a FIve-Year Development Phasing Forecast.....................................................346 15.5 Review V1llage Phasing Plan ..........................................................................................346 15.6 RevIew the Service Revenue Plan and Revenue Sharing Agreement(s)..... ......... ....... ... .... ........ ..... ......... ....... ...... ...... ........... ...... ....... ......... ........ ......346 d.-?;b otau Ranch GDP/SRP o Part ill 15.7 Identify Adjustments To FIND Model............................................................................257 SPA SPECIFIC IMPLEMENTATION TASKS 16. Eastem Urban Center - plllnnh'g Area 12 16.1 Identlf'y Land and Space ReqUirements for Arts and Cultural Facilities......................................................................................................................... 280 16.2 Identify Land and Space Requirements for Civic Uses ..................................................300 16.3 Identify Size, Location and TIming of Correctional Facilities ..................................... 301 16.4 Identify Size. Location and TIming of Justice Facilities...............................................308 16.5 Identif'y Site for Law Enforcement Fac1lity...................................................................311 16.6 Identify Site for Library Facil1ty....................................................................................314 17. Lake Protect1oa. - Plllnnhog Areas 13, 14, and lIS 17.1 Prepare Urban Runoff Plan ............................................................................................270 18. Transit .t\lIgromeutll - Plllnnh'.g Areas 1 and IS 18.1 Conduct Transit Alignment Study................................................................................. 120 19. Industrial "-Igro - ptannl"g Areas 18a, lSb and 3. 19.1 Establish IndustrIal Design Guidelines................................................................. 128, 2fY7 20. Resort DesIgn- plllnnl"g Areas 13 20.1 Establish Resort Design Guidelines................................................................................ 176 21. Freeway CommercJal- Plannl"g Areas IS, 6, 7. 8. 9. 11 and 12 21.1 Prepare Freeway SIgnage Program................................................................................. 107 22. Proctor Valley PIaD8 - Plllnnl"g Area 14 22.1 Prepare Plan for Adjacent Land Uses............................................................................. 185 2S. Agriculture - Last Otay Valley Parcel SPA 23.1 Provide for Demonstration Farm ..................................................................................387 d-37 NAP AND LAND USB TABLB CHANGES cJ~38 MAP AND LAND USB TABLE CHANGES GDP/SRP EXHIBIT PAGE PAGB Universal Modify all maps to delete 'Umbrell N/A Property' , the westerly i20 acres of the development area immediately south of the . reverse L', and make corresponding acreage changes on land use tables. 70 Overall Project Summary 2-42 72 Otay Valley Parcel 2-43 73 Otay Valley Parcel Land Use Map: N/A Modify map to reflect final action. 76 Proctor Valley Parcel 2-44 77 Proctor Valley Parcel Land Use Map: N/A Modify map to reflect final action. 79 San Ysidro Mountains Parcel 2-45 81 San Ysidro Mountain Parcel Land Use Map: Modify map to reflect final ac- N/A tion. 84 Otay Ranch Village and Rural Estate 2-46 Areas by Planning Area Numbers. 86 Add note to Otay Ranch Regional Com- mercial, Office and Industrial map as follows: 'See Village 3 discussion N/A for City of Chula Vista condition precedent to activate residential uses in Village 3.' 88 Otay Ranch Open Space Map 2-47 91 Circulation Element Roads: Add note to map stating 'Alta Road is not a Circulation Element Road within the N/A City of Chula Vista. The County of San Diego's Circulation Element reserves right-of-way for Alta Road. 118 Village One Land Use Table 2-48 121 Village One Land Map 2-49 123 Village Two Land Use Table 2-50 126 Village Two Land Use Map 2-51 eJ...?JI GDP/SRP EXHIBIT PAGE PAGE 128 Village Three Land Use Table 2-52 131 Village Three Land Use Map 2-53 133 Village Four Land Use Table 2-54 136 Village Four Land Use Map 2-55 138 Village Five Land Use Table 2-56 140 Village Five Land Use Map 2-57 142 Village six Land Use Table 2-58 144 Village Six Land Use Map 2-59 146 Village Seven Land Use Table - NO 2-60 CHANGE 148 Village Seven Land Use Map - CLERICAL 2-61 CORRECTIONS, TEXT CHANGE ONLY 150 Village Eight Land Use Table 2-62 152 Village Eight Land Use Map 2-63 154 Village Nine Land Use Table 2-64 157 Village Nine Land Use Map 2-65 157 University Map 2-66 161 159 Village Ten Land Use Table - NO 2-67 CHANGE 161 Village Ten Land Use Map 2-68 163 Village Eleven Land Use Table 2-69 166 Village Eleven Land Use Map - 2-70 CLERICAL CORRECTIONS, TEXT CHANGE ONLY 168 Village Twelve Land Use Table 2-71 172 Village Twelve Land Use Map 2-72 175 Village Thirteen (Resort) Land Use 2-73 Table 179 Resort Village Land Use Map 2-74 183 Village Fourteen Proctor Valley Land 2-75 Use Table 187 Village Fourteen Land Use Map 2-76 C) ~t{l) GDP/SRP EXHIBIT PAGB PAGE 189 Village Fifteen (San Ysidro West) 2-77 Land Use Table [CITY] 192 Village Fifteen Land Use Map [CITY] 2-78 189 Village Fifteen (San Ysidro West) 2-79 Land Use Table [COUNTY ] 192 Village Fifteen Land Use Map [COUNTY] 2-80 194 Planning Area 16 (Jamul Rural Estate Area) Land Use Table - CLERICAL 2-81 CORRECTIONS 195 Planning Area 19 Land Use Table - NO 2-82 CHANGE 197 Jamul Rural Estate Area Land Use Map 2-83 200 Village Seventeen (San Ysidro East 2-84 Rural Estate Area Table 203 Planning Area 17 (San Ysidro East 2-85 Rural Estate Area) Land Use Map: 206 Planning Area 18b (paseo Ranchero 2-86 Industrial Area) Land Use Table - CLERICAL CORRECTIONS 208 Paseo Ranchero Industrial Area 2-87 (Planning Area 18b) Land Use Map - CLERICAL CORRECTIONS C),lff Overall Project Summary'" Village SF MF Total Res. At. Park CPF Sch C'ml. Open Sp. Alt. At. Other Total Approx. Untts Unls Units At:' A.. k. k. Ac. Pop. OIay Valley 10,883 10,803 21,686 3,367 189.1 84.5 260.0 369.9 4,330.6 542.8 305.1 9,449 62,373 Parcel Proctor 3,003 1,558 4,561 2,0232 132 18.9 10.0 2.9 5,516.4 80.0 230.4 7,895 13,583 VaIey Parcel: San Ysidro 1,057 0 1,057 1,589.8 7.9 5.8 10.0 3.3 3,938.4 0.0 0.0 5,555 3,382 Mountai1s Parcel (CITY) San Ysidro 720 0 720 1.157.9 7.9 5.6 10.0 3.3 4,370.3 0.0 0.0 5,555 2,305 Mountains Parcel (COUNTY) Total, 14,943 12.361 27,304 6,980 2102 109.0 280.0 376.1 13,785.4 622.8 535.5 22,899 79,33& (CITY)14,94 3 Total, 14,606 12,361 261Nfl 6,548.1 210.2 109.0 280.0 376.1 14,217.3 622.8 535.5 22,899 78,261 (COUNTY) '30.8 ac. of park land included in residential acreage. Actual distrbulion of acreage wiD be determined with the Park Master Plan. " See Village 3 clSCUssion for condttion precedent to utiHzing residential uses within the City of Chula VIBIa. - Subsequent references to the 'OY9I8I Project Summ8l}' Table' includes the summ8l}' tables by parcels (pages 72.76, and 79). Note: Total may change depending upon clarification of Board and Council action concerning Village 15 d.-1j.J- Otay Valley Parcel Village SF MF Total Res. Parle CPF Sch C'm!. Open Art. Ac. 0Iher Total Approx. Unks Unis UnIts Ac. Ac Ac. Ac. Ac. $p. Ac. Pop. Vilage 1 1,701 1,566 3,323 547.5 10.0 12.3 10.0 11.4 265.9 48.5 0.0 903.6 9,616 Vilage2 1,355 566 1,941 486.6 35.0 92 10.0 18.7 1822 32.7 0.0 774.6 5,830 Village 3 613 128 741 149.0 8.0 3.4 0.0 5.3 136.5 16.1 0.0 318.3 2,288 VDlage 4 532 0 532 290.7 0.0 3.0 10.0 3.0 265.5 35.0 0.0 607.2 1,703 VDIage 5 1,263 1.615 2,878 370.3 10.0 10.2 10.0 6.0 71.5 15.4 0.0 493.4 8,160 VDlage 6 990 1,242 2,232 275.3 10.0 8.0 10.0 4.6 40.5 16.5 0.0 364.9 6,335 Village 7 1,053 448 1,501 241.5 9.3 6.3 85.0 72 45.3 17.1 0.0 411.7 4,512 VillageS 1,021 436 1,457 2fi1.7 S.6 5.6 10.0 13.4 23.1 142 0.0 342.8 4,379 Village 9 735 1,010 1,745 251.1 8.8 6.3 10.0 8.7 59.9 19.1 0.0 363.9 4,928 Village 10 819 271 1,090 178.1 34.3 4.4 35.0 20.0 40.7 21.1 0.0 333.6 3,311 Village 11 745 1,001 1,748 238.9 9.9 6.6 60.0 10.4 95.4 33.8 0.0 455.0 4,936 Ping. Alee 0 2,500 2,500 70.1 45.0 92 10.0 261.2 19.7 242 0.0 439.4 6,375 12 P~. Area 0 0 0 0.0 0.0 0.0 0.0 0.0 0.0 0.0 215.8 215.8 0 ISA Ping. Area 0 0 0 0.0 0.0 0.0 0.0 0.0 0.0 0.0 89.7 89.7 0 188 Other: Open 0 0 0 0.0 0.0 0.0 0.0 0.0 ~ 0.0 0.0 ~ 0 Space SRI25 0 0 0 0.0 0.0 0.0 0.0 0.0 0.0 182.0 0.0 182.0 0 Public 0 0 0 0.0 0.0 0.0 0.0 0.0 0.0 0.0 19.6 19.6 0 Arterial 0 0 0 0.0 0.0 0.0 0.0 0.0 0.0 89.1 0.0 69.1 Total 10,S83 10,803 21,688 3,367 169.1 84.5 260.0 369.9 ~ 542.S 305.1 9,449 62,373 dJ.B Proctor Valley Parcel Village SF MF Total Res. Park CPF Sch C'm!. Open Art. Ac. OIlIer Total Approx. Unn. UnIs Units Ac. Ac Ac. Ac. Ac. Sp. Ac. Pop. Vilage 13 1,030 1,408 2,438 512.5 0.0 9.6 0.0 0.0 0.0 30.9 230.4 763.4 6,667 Village 14 1,563 150 1,713 773.8 10.7 7.6 10.0 2.9 0.0 23.7 0.0 628.7 5,384 Ping. Area 390 0 390 716.9 2.5 1.7 0.0 0.0 370.0 25.4 0.0 \1165 1,248 16 Png. Area 20 0 20 20.0 0.0 0.0 0.0 0.0 0.0 0.0 0.0 20.0 64 19 Other. Opan Sp. 0 0 0 0.0 0.0 0.0 0.0 0.0 &161 0.0 0.0 &161 0 Total 3,003 1,558 4,581 ~ 13.2 18.9 10.0 2.9 &51114 80.0 230.4 7,915 13,563 Note: County final action is pending on ViUage 14. d - 'flf San Ysldro Mountains Parcel Village SF MF Total Res. Park CPF Sch C'm!. Open Art. Ac. Other Total Approx. Unks Unls UnIts Ac. k k. Ac. Ac. Sp. k. Pop. VHIage 15 761 0 761 773.1 7.9 5.6 10.0 3.3 0.0 0.0 0.0 799.9 2,435 (CITY) Vilage 15 433 0 433 4092 7.9 5.6 10.0 3.3 0.0 0.0 0.0 436 1,386 (COUNTY) VDlage 17 296 0 296 816.7 0.0 0.0 0.0 0.0 794.5 0.0 0.0 1,6112 947 (CITY) Vilage 17 2B7 0 2B7 748.7 0.0 0.0 0.0 0.0 794.5 0.0 0.0 1,5(12 919 (COUNTY) Other: Open Sp. 0 0 0 0.0 0.0 0.0 0.0 0.0 ~1069 0.0 0.0 ~1069 0 (CITY) Open Sp. 0 0 0 0.0 0.0 0.0 0.0 0.0 ~ 0.0 0.0 ~ 0 (Xl.NrY) Total (CITY) 1,057 0 1,057 1,'HI8 7.9 5.6 10.0 3.3 ~ 0.0 0.0 5,555 3,382 Tolal 720 0 720 1,1S'9 713 5.6 10.0 3.3 4,.m! 0.0 0.0 5,555 2,305 (COUNTY) Note: Total may change depending upon clarification of Board and Council action concerning Village 15. ~-45 ~ < ; J1 1!! ::J a: gj ~ 5 8 g. <J > Q c u =-= G>= E~ .cCl)O) We g--- ",ec a:::J~ >- a: a: .s~>- OCUCO c:nCl) Sea =CD >- <( j r= >~ ~ :) tI) ro C!) < C!) ~ ..... tI) ~ ..... ro I-< ~ "'0 1a tI) C!) 0.. ~ C!) ~ ..... ..... ..... > ..s::: C) ~ ~ o or) N ..... ..... ,.D ~ ;),-4/p r .cG) UU cca cae.. a: en >oC caG) _ C. 00 Q - o Q) c:> 0'" .- Q) -III BQ) 0'" _0- iti N e =as ea: Q)>. em Q)- CJO II ~ ~ Q) U ('j 0.. r/J. ;::: Q) 0.. o ...c: u ;::: ~ ~ ..... o r- N ..... .- .D ~ ~ d,J-f7 Village One Use SF MF TcQI Res. Dens PIIIk CPF Soh C'm! Open A'rt. ToIs! Approx. Unhs unas Units Ac. Ac" Ac. Ac. Ac. Sp. Ac. Ac. Pop. LMV 1,314 0 1,314 328.6 4.0 7.S' 328.6 4,205 MU 0 0 0 0.0 0.0 10.0 12.3 11.4 0.0 33.7 0 MH 0 1,566 1,566 87.0 18 10.0 97.0 3,993 LM 299 0 299 99.9 3.0 99.9 957 LM 144 0 144 32.0 4.5 32.0 461 OTHER 0 0 0 0.0 0.0 265.9 46.5 312.4 0 TOTAl 1,757 1,566 3,323 547.5 10.0 12.3 10.0 11.4 265.9 46.5 903.6 9,616 'Neighborhood park land included in residential acreage. "Part of park acreage requrements have been allocated to community parks. Actual park size to be det8l!llined by Parks Master Plan. d.Jfg Scenic Corridor Create Slope and Landscape Utilize Landform Grading Open Space Create Slope and Landscape TransIt Right-ol.Way Reservation with Stop at Village Cor. Bike Link to Southwest COllege Design for Compatibility with Sunbow Open space Preserve Slope and Enhance Habitat 75-foot Average Buffer Along Arterials Open Space Preserve Slope and Enhance Habitat Scenic Corridor Landscape Treatment Open Space Preserve SIDpe and Habllat Exhibit 39 - Village 1 Land Use Map d -1f9 Village Two Use SF MF Total Res. Den. Port< CPF Soh C'ml. Open Art.k. ToIaI Approx. Un.. Un.. Un.. Ac. Ac" Ac. k. k. Sp. Ac. Pop. LMV 1,156 0 1,156 330.2 3.5 3.1' 330.2 3,699 MU 0 0 0 0.0 0.0 10.0 9.2 18.7 37.9 0 MH 0 586 586 58.6 10.0 10.0 68.6 1,494 LM 134 0 134 53.6 2.5 53.6 429 LM 65 0 65 44.4 1.5 44.4 208 CP 0 0 0 0.0 0.0 25.0 25.0 0 OTHER 0 0 0 0.0 0.0 182.2 32.7 214.6 0 TOTAl 1,355 586 1,941 486.8 35.0 9.2 10.0 18.7 182.2 32..7 774.6 5,830 'Neighborhood park land included in residential acreage. "Actual park size to be determined by Par1<s Master Plan. J.'5l '" Co '" CD ~ C -0- i~ oJ" ... ~ E 0", 0 -oep_ i: J:L. "0 0.9 i Ocn..... 00>0> --.. ~Z= o~_ cno;:) .. CD eo '" C > 0 --", ~<- -~" Ot,Ui:: 0_0> --\: ,j,"c( ,...ID 0> o !!'" 0> C > 0 c( - <n <- -.... Oc>>'t: 0_ .. --t: v,::J_ ,...ID~ o :::I ..w o 0 "'- 0... VI CI C os 11>'" Co.!: 0..J <nO> os 0 os 0>0. i::cn .. C ~! Q.o s: -= "i= -0 Cc 0.. -oJ o_ S I;) -'5 Co 8.. c: ., -os ..S: "'11. " .. S:s: 0._ .. ep '::Q. ==0 "'- cen ~'2 .... ~- o>S ''':is !!!co 0..:1: ~ '@ " en - C .. .... 0.. .!!!.::;) "O- ct;: "-0 .. C 3!j .. c." 8i ~ '2 ~ c o ,.. c -.... ....u ';:-- CE- .._~ 32=> =:! 9 a:oc: C;;;i SPes :es Dc(> CDc: Co -,.. -gc c';~ e:a .. o~ 1:1 :; 0 "0 c_ >oW CD_ ~.c: -I i ~ ~ . u .c ~.!L 0"--0 "0 54 ;:: !3~ ilia "c 00 .fCi: ~ ~ (]) rJ) ::J "0 a ~ C'I (]) 00 ro ...... ...... :> ...... ~ ....- ..... .D ~ ~ d.-SI Village Three" Use SF MF ToIaI Res. Dens Park CPF Sch C'm!. Open Art. Ac. Total Approx. Units Unis Units Ac. k' Ac. Ac. Ac. Sp. Ac. Pop. LM 613 0 613 1362 4.5 136.2 1,962 MU 0 0 0 0.0 0.0 8.0 3.4 5.3 16.7 0 MH 0 128 128 12.8 1.0 12.8 326 OTHER 0 0 0 0.0 0.0 136.5 16.1 152.8 0 TOTAl 613 128 741 149.0 8.0 3.4 0.0 5.3 136.5 16.1 318.3 2,288 'Actual park size to be determined by Parks Master Plan. " Within the City 01 Chula VISta the primary land use for Vilage 3 is industrial. See the discussion withil this section for the raqurements which must be satisfied in Older to utUize the secondary residential village land uses described above. ~-5d Wildlife Corridor Ullllze Landfonn Grading Techniques Along Wolf Canyon Connection with Industrtal (Planning Area 18-B) 75-foot Average Buffer Along Anerlals Connect to Existing Industrial Provide Trail Links 10 Otay Valley Otay Valley Road ~"'~~I , ::20 "".:a._____ "8ff n: - - - 75-foot Average Buffer Along Anerlals Orient Residential Uses Toward Canyon Consider Olay Valley Park In Design of Residential Uses City of Chula Vista: Primary Land Use Designation: The area indicated on the GDP/SRP Land Use Map as Village 3 has a primary land use designation as Industrial. Secondary Land Use Designation: Village 3 also has secondary land use designations for village purposes. This area may be developed for said secondary uses only if and when Planning Area 183, designated on the GDP/SRP Land Use Map as Industrial, is de-annexed from the City of San Diego and annexed to the City of Chula Vista. and remains designated as Industrial use. Note: The County of San Diego designates Village 3 as a residential village as depicted above. Exhibit 43 - Village 3 Land Use Map Cl- 52> Village Four Use SF MF Total Ree. Den. Park CPF Sch C'm!. Open Art. Iv:. Total Approx. Unhs Unls UniI. Iv:. At;" Iv:. Iv:+ Iv:. Sp. Iv:. Pop. L 173 0 173 89.1 2.5 89.1 554 L 156 0 156 156.1 1.0 4.3" 156.1 499 MU 0 0 0 0.0 0.0 3.0 3.0 6.0 0 LMV 85 0 85 18.8 4.5 18.8 Z72 LM 68 0 68 34.1 2.0 34.1 218 LM 50 0 50 12.6 4.0 10.0 22.8 160 OTHER 0 0 0 0.0 0.0 265.5 35.0 300.5 0 TOTAl 532 0 532 290.7 0.0 3.0 10.0 3.0 265.5 35.0 607.2 1,703 'Neighborhood park land included in residential acreage. "Part of park acreage requirements have been allocated to community parks. Actual park size to be determined by Parka Master Plan. t&hool needed W Village 3 developed wih residential. d -54- Utilize Landfonn Grading Techniques Along Wolf Canyon Half.acre Lots Adjacent to Wolf Canyon with Remainder Average 10,000 sq. ft. lots. 75-loot Average Buffer Along Arterials Open Space and Preserve Rock Outcropplngs Preserve as Open Space Amenity Provide Trail Connections to EUC and Otay River Valley Provide for Compatibility with Village 8 75-foot Average Buffer Along Arterials Wildlife Corrldor- Limited Development Time Development with Quarry Closure Lower Density Development to Preserve Rock Outcropplngs Study Road Alignment to Minimize Biological Impacts Exhibit 45 - Village 4 Land Use Map ~-55 Village Five Use SF MF Total Res. Dens Park CPF Sch C'm!. Open Alt.Ar:. Total Approx. Unhs Unb Units Ac. Ac" Ac. Ac. Ar:. Sp. Ar:. Pop. LMV 1,263 0 1,263 280.6 4.5 4.6' 280.6 4.042 MU 0 0 0 0.0 0.0 10.0 102 6.0 262 0 MH 0 1,615 1,615 69.7 18 10.0 69.7 4,118 OTHER 0 0 0 0.0 0.0 71.5 15.4 86.9 0 TOTAl 0 1,615 2,878 370.3 10.0 102 10.0 6.0 71.5 15.4 493.4 8,160 'Neighborhood park land included in residentialllCfeage. "Part of park acreage requirements have been allocated to community parks. Actual park size to be determined by Parks Master Plan. ;?,5b Open Space Scenic Corridor Secondary Parks In village Neighborhoods Locale Village Core al Highest Elevation Potential Park sc~ned/LandScaped Reservoir Slle Edge Complementary Relationship with village 1 75-loot Average Buffer Along Arterials Transit Rlght-oj.Way ReservaUon with Stop at village Core Open Space Scenic COrridor Create Slope and Habitat Exhibit 47 - Village 5 Land Use Map d.-57 Village Six Use SF MF Total Res. Dens Par1I CPF Sell C'm!. Open Art.~. Total Approx. Un.s Unts Un.s Ac. Ac" Ac. Ac. Ac. Sp. ~. Pop. LMV 990 0 990 206.3 4.8 1.3' 206.3 3,168 MU 0 0 0 0.0 0.0 10.0 8.0 4.6 22.6 0 MH 0 1,242 1,242 68.0 16 10.0 79.0 3,167 OTHER 0 0 0 0.0 0.0 40.5 16.5 51.0 0 TOTAL 990 1,242 2,232 275.3 10.0 6.0 10.0 4.6 40.5 16.5 364.9 6,335 'Neighborhood park land included in residential aaeage. "Part of park acreage requrements have been allocated to community parks. Actual park size to be determined by Perks Mast... Plan. d. -58 Buffer and Land Use Design to Minimize Freeway Impacts Open Space Scenic Corridor Some Complementary Relationship with Village 2 75-loot Average Buller Along Arterials Transit Rlght-ol-Way Reservation with Stop at Village Core Exhibit 49 - Village 6 Land Use Map ~-Sl Village Seven USE Sf Mf Total Res. Den. Park CPF Sch C'ml. Open AIt.k. Total Approx. Unh. Unl. Unit. Ae. k' lie. Ae. k. Sp. k. Pop. LMV 1,053 0 1,053 210.6 5.0 75.0 265.8 3,370 MU 0 0 0 0.0 0.0 9.3 6.3 72 22.8 0 MH 0 448 448 30.9 14.5 10.0 40.9 1,142 OTHER 0 0 0 0.0 0.0 45.3 17.1 62.4 0 TOTAl. 1,053 448 1,501 241.5 9.3 6.3 85.0 72 45.3 17.1 411.7 4,512 'Part 01 park acreage requiements have been allocated to convnunily parks. Actual park size to be delermined by Parks Master Plan. d.-toD Transition Densities Irom EUC/SR125 to Lower Intensities 75-loot Average Buffer Along Anerlals Open ,Space Provide Regional Open Space Linkage Irom Wolf Canyon to EUC Average 200-Ioot Width Across Village Eastern Urban Center Connect School to Open Space System Coordinate Mixed Use Area with Village 4 75-loot Average Buller Along Anerlals Exhibit 51 - Village 7 Land Use Map eJ-bl Village Eight Use SF !IF Total Res. Dens Park CPF Sch C'm!. Open Art. At. Total Approx. Unfts Un" Unfts At. At' Ac. At. At. Sp. At. Pop. LMV 587 0 587 1222 4.8 122.2 1,878 LMV 299 0 299 85.4 3.5 85.4 957 LMV 135 0 135 30.0 4.5 30.0 432 MU 0 0 0 0.0 0.0 8.S* 5.6 13.4 19.0 0 MH 0 436 436 30.1 14.5 10.0 40.1 1,112 OTHER 0 0 0 0.0 0.0 23.1 14.2 37.3 0 TOTAL 1,021 436 1,457 267.7 8.8 5.6 10.0 13.4 23.1 14.2 342.8 4,379 'Part of park acreage requirements have been allocated to communily parks. Actual park size to be delennined by Parks Master Plan. d -fa;;. Buffer and Land Use Design 10 Minimize Freeway Impacts Screen/Landscape Reservoir Slle Edge Transition 10 Lower Densities Toward Park Edge 75-1001 Average Buller Along Arterials 75-1001 Average Buller Along Arterials Consider Regional Park In Designing Edge 01 village 8, Including Landlorm Grading 01 Edge: Design Guidelines Required In Ranch Design Plan and Village Design Plan Exhibit 53 - Village 8 Land Use Map CJ..- h3 Village Nine Use SF MF Total Res. Dens Park CPF Soh C'm!. Open Art.k. Total Approx. Unhs Un" Units k. k' Iv:. Ac. Iv:. Sp. k. Pop. LMV 621 0 621 138.1 4.5 138.1 1,987 MU 0 0 0 0.0 0.0 8.8 6.3 8.7 23.8 0 MH 0 1,010 1,010 56.1 18 10.0 66.1 2,578 l 114 0 114 56.9 2.0 56.9 385 OTHER 0 0 0 0.0 0.0 59.9 19.1 79.0 0 TOTAl 735 1,010 1,745 251.1 8.8 6.3 10.0 8.7 59.9 19.1 383.9 4,928 'Part of park acreage requi'ements have been allocated 10 community parks. Actual park size to be determined by Parks Master Plan. d..-tot.f 75.loot Average Buffer Along Anerlals Transit Rlght.ol.Way Reservation with Stop at Village Core Design Nonhern Areas lor Compatibility with Adjacent Land Use of EUC Utilize Landlorm Grading Techniques Preserve Habitat Buffer and Land Use Design to Minimize Freeway Impacts Transition to Lower Density Uses Toward Otay valley Regional Park * Primary use of Village 9 is University. Secondary use of Village 9 is depicted above. See Otay Ranch Land Use Designations Table, Part II, Chapter 1, Section C. Exhibit 55 - Village 9 Land Use Map c1-bf \ ,oo;t. u' '",e^> \'~ ~ ~ ~ "'/ ,r~~ :\\\~ Bd.~' ~ '" II , , " ""''''~ ~\.~\ .' . , " , , ,~'.:~,:: " , 50. :,:.: . Village 9 and 10 Primary Use: University o '" " a .. " iiI '" "-.) -.-- -----. ~...bh Village Ten Use SF MF Total Res. Dens Park CPF Sd1 C'm!. Open M.k. Total Approx. UnMa Unts Units Ac. M Ac. Ac. k. Sp. A&. Pop. M 407 0 407 67.9 6.0 25.0 92.9 1,302 MU 0 0 0 0.0 0.0 6.3 4.4 20.0 3tJ.7 0 MH 0 271 271 16.7 14.5 10.0 26.7 691 LMV 412 0 412 91.5 45 91.5 1,318 CP 0 0 0 0.0 0.0 26.0 26.0 0 OTHER 0 0 0 0.0 0.0 40.7 21.1 61.8 0 TOT At. 819 271 1,090 178.1 34.3 4.4 35.0 20.0 40.7 21.1 333.6 3,311 . Actual park size to be determined by Parks Mast8i' Plan. ~-fo1 , -~-,~."",".-^ ,'-' ,-- 75-foot Average Buffer Along Arterials Provide Connection to Regional Greenbelt In Village 11 \ , I This area Is Designated fora , Community Park which will be specifically sited and sized (! 28 acres) In connection with the SPA Park Master Plan. Grade Community Park In Association with Road. Minimize Impacts to Salt creek. Provide Trail Connections to Salt F:;:;,; :~;r:~~r~:;:.:", 75-foot Average Buffer Along Arterials 75.foot Average Buffer Along Arterials Open Space Scenic Corridor Utilize Landform Grading on Edges of Salt Creek Pedestrian Linkages to Regional Park * Primary use of Village 10 is University - Secondary use of village is depicted above. See Otay Ranch Land Use Designation Table, Part II, Chapter 1, Section C. Exhibit 57 - Village 10 Land Use Map ",(-02 Village Eleven Use SF MF Total Res. Dens Pari( CPF Sch C'm!. Open Aft. N:. Total Approx. Un~. Un.. Units Ac. N:' Ac. Ac. N:. Sp. N:. Pop. MH 0 304 304 25.3 12.0 25.3 775 MU 0 0 0 0.0 0.0 9.9 6.6 10.4 26.9 0 MH 0 697 697 48.1 14.5 10.0 56.1 1,m LMV 745 0 745 165.5 4.5 50.0 215.5 2,384 EA 0 0 0 0.0 0.0 15.6 15.6 0 OTHER 0 0 0 0.0 0.0 79.6 33.8 113.6 0 TOTAL 745 1,001 1,746 238.9 9.9 6.6 80.0 10.4 95.4 33.8 455.0 4,936 'Part of park acreage requi:ements have been allocated to community parlcs. Actual park size to be determined by ParI<s Master Plan. ;)'-b1 ... e 00 :ECI :: e 0- ." U"'... U"'", -0", e E ... B...o (/)0:: --", ~-gCl) "'",- c.-J 0 en",,,, eN'" c>> = C) c..;::: 't:I O::;)W '" Oi ;: '" ",1: "'< C!'" '" e > 0 <;;( 15... oS! ~'5 ,...m g &'0 "'0 ...,c c U ::;en "'oC ."a >~ o . ...... 11.... '0 o CD oCu U '" enC. .cen "'c - '" :l:c. "'0 .5 0 -J_ ~ ... 2 .!i! go II: I '" Oi ;: '" CD 1: a< ea "'e > 0 c:[;;( o~ 0_ -- '", ;em !!! '" ;: '" "'1: "'< C!'" "'e > 0 <;;( -... 0", 0_ -- '", ;ecc >oOi =c:; E ... -G> "E ee 11.0 co -... "'", '" iI: ~ii &... '0'0 We ...... ""u "'::;) ~w ss CD 0: a ......'" .Q a= e E> ii....5 o 1U,c 215j o.2J: 0....;; "'i5- II:NiI: g. ~ Q) rn ~ "'C ::: ro .....:i ,...; ...... & ro - - ...... > 0'. Ir) .... ...... ~ ~ c2-70 Planning Area Twelve (EUC) Use SF MF Total Res. Dens Psrk CPF Sch C'ml. Open Art.k. Total Approx. Un~s Un!s Units Ac. k' Ac. Ac. k. Sp. k. Pop. EUC" 0 2,500 2,500 70.1 35.6 45.0 9.2 10.0 134.3 6,375 Reg. Mall 0 0 0 0.0 25.0 25.0 0 VISitor 0 0 0 0.0 20.0 20.0 0 Comm. Cuftural 0 0 0 0.0 5.0 5.0 0 Off-Low 0 0 0 0.0 80.0 80.0 0 RiselBus. Off- 0 25.0 25.0 0 MedlHigh Rise FC 0 106.2 106.2 0 OTHER 0 0 0 0.0 19.7 24.2 43.9 0 TOTAl 0 2,500 2,500 70.1 45.0 9.2 10.0 261.2 19.7 24.2 439.4 6,375 'Actual park size to be determined by Psrks Master Plan. .. Regional Man, Vis~or Commercial, OIfice-Low Rise Business and Office-MediumIHigh Rise area aI uses permitted within the EUC land use desi9nation. The characteristics and location 01 these eubordinale uses wil be defined as pari 01 the EUC SPA plan. ft is anticipated thai all uses within the EUC could equate to 6,000,000 sq. ft. 01 toIaJ u.... c2-7J 75-1001 Average Buffer Along Arterials , Buffer Edge Reserve Rlght.ol.way lor Transit Provide lor Multl.Modal Park and Ride Facility "/ Buffer/Allow For Visual Access 10 EUC and Freeway Commercial 75.1001 Average. BUffer Along Arterials Exhibit 61 - Village 12 Land Use Map 75-1001 Average Buffer Along Arterials Provide lor Complementary Relationship with Core of Village 10 200.foot average width within Village ;;-7;' Village thirteen Use SF MF ToIaI Res. Dens Psrk CPF Soh C'ml. Open Art. Ac. ToIaI Approx. Unhs Unls Unls N;. /V;;' Ac. Ac. /V;;. Sp.- /V;;. Pop. L 261 0 261 130.9 2.0 130.9 835 LMV 769 0 769 2562 3.0 5.0' 2562 2,461 M 0 2Zl 227 28.4 8.0 5.0' 28.4 579 see 0 0 0 0.0 0.0 18.7 0 MH 0 632 832 42.1 15.0 42.1 1,612 MH 0 549 549 54.9 10.0 54.9 1,400 RESORT 0 0 0 0.0 0.0 9.6 221.3 0 OTHER 0 0 0 0.0 0.0 30.9 30.9 0 TOTAl. 1,030 1,408 2,438 512.5 10.0 9.6 0.0 0.0 0.0 30.9 783.4 6,887 'Neighborhood pa1X land included in residential acreage. HPart of pa1X acreage requirements have been allocated to community parks. Actual pa1X size to be detennined by Psrks Master Plan. '''Open space totals incklded in the Proctor Valley Parcel summary. d.-73 1 ~ II fr ~~ i II i ~ il .E: co ~E ~ W E - ~~ Ii ii . oS r! ]cn~ d~ ~jJ ~H =-16 5~z ~ '~ ~ " " ~.'" ,,, "'~Iw,.. " -./ IV!, ')-1..", ' 1- , " ) I>, \ '''" \ ,~~ '. y'l, ~! \,-Y \~;J ~ _+ '_ )1'<",,]( ,'\ '-- ~ u..~1 ~. . Q: ..-~----!---........ ... ~"'-\'V--V'\V-'\ ~" I.}( .,1' > I I, m "'1 }\ ,\', ) . / .''\ /" \' "''--) j"l\ h II I! I al~ II~ II Uf I ~ ~- s I 81 II 8 Ii 0.. ~ <I) '" ~ -0 ~ .....1 <I) ~ '" - - :> t:: o '" <I) ~ M \0 ... :E ~ ~ eJ-11.J- Village Fourteen Use SF MF Total Res. Dens Park CPF Sell C'ml. Open Art. M. To/aI Approx. Un~s Un.s Units IV;. IV;' IV;. M. M. Sp.- M. Pop. L 190 0 190 190.0 1.0 190.0 608 L 956 0 956 478.3 2.0 478.3 3,059 M 262 0 262 43.7 6.0 43.7 838 MH 0 150 150 10.0 15.0 10.0 383 MU 0 0 0 0 0 10.7 7.6 10.0 2.9 31.2 0 LMV 155 0 155 51.8 3.0 51.8 496 OTHER 0 0 0 0.0 0.0 23.7 23.7 0 TOTAL 1,563 150 1,713 m.8 10.7 7.6 10.0 2.9 0.0 23.7 826.7 5,384 'Part of park acreage requirements have been allocated to community parb. Adual park size to be determined by Parks Master Plan. "'Open space totals included in the Proctor Valley Pan:eI sumnuuy. Board 01 Supervisor Action Pending. d.,15 Open Space Buffer to Jamul Open Space Scenic Corridor Concentrate Lowest Densities Along Jamul Edge Consider Negative Impacts of Electric Transmission LInes u Cluster ResidentIal Uses Around Golf COurse Conceptual Golf Course Location Utilize Landform Grading Adjacent to Resource Management Plan Open Space Regional Wildlife COrridor Design Guidelines Required for Uses on Wildlife Corridor Edge Exhibit 65 - Village 14 Land Use Map eJ.-7h Village Fifteen (CITY) Use SF MF TOC8I Res. Dens Park CPF Sch C'm!. Open AJt.~. Total Approx. Untts Unls UnIts ~. Ac' At. At. At. Sp." ~. Pop. M 245 0 245 33.9 7.0 33.9 784 MU 0 0 0 0.0 0 7B 5.6 10.0 3.3 26.8 0 VL 516 0 516 7392 0.7 739.2 1,651 TOTAL 761 0 761 m.1 7B 5.6 10.0 3.3 0.0 0.0 799.9 2,435 'Part of park acreage requirements have been allocated to community paries. Actual park size to be detennined by Parl<s Master Plan. "Open space totals inckJded in the San Ysidro Mountail Parcel summary. Village FIfteen (CITY-OPTION) Use SF MF TOC8I Res. Dens Park CPF Sch C'm!. Open Art. At. Total Approx. Untts Unls Untts Ac. ~. Ac. Ac. ~. Sp." ~. Pop. M 245 0 245 33.9 7.0 33.9 758 MU 0 0 0 0.0 0 7B 5.6 10.0 3.3 26.8 0 VI. 271 0 271 739.2 See 739.2 893 Map TOTAL 516 0 516 m.1 7B 5.8 10.0 3.3 0.0 0.0 799.9 1,651 'Part of park acreage requirements have been allocated to community paries. Actual park size to be determined by Parl<s Master Plan. "Open space totals included in the San Ysidro Mountail Parcel summary. d,-T! -.._.._..r' Provide for Regional Wlldll.. Corridor Design Guldennes Requl..cl lor Uses on Wildlife Corridor Edge Vernal Pool Study Area: Subject 10 Further Sludy al SPA level utilize Landlorm Grading Ad,acenllo Reaource Management Plan Open Space UIllIza Landform Grading In Lower Density Arees H"'r'] Single Family Estate Areas :::::::::: (Minimum lot size .5 acre, total units 271 Exhibit 67b - City Approved Village 15 Land Use Map d-73 Village Fifteen (COUNTY) Use SF MF T oIaI Res. Dona Pari< CPF Sc:h C'ml. Open Art.k. Total Approx. Units Unls Unh k. Nt k. k. N:. Sp." k. Pop. VL 188 0 188 375.3 .5 375.3 602 MU 0 0 0 0.0 0 7.9 5.8 3.3 18.8 0 M 245 0 245 33.9 7.0 10.0 43.9 784 TOTAL 433 0 433 409.2 28.0 7.9 5.8 10.0 3.3 0.0 0.0 438.0 1,388 'Part of park acreage requrements have been allocated to community parks. Actual park size 10 be dBlermined by PBIks Master Plan. "Open space totals included In the San Ysidro Mountai1 Parcalsummary. Village Fifteen (COUNTY-OPTION) Use SF MF T oIaI Res. Dans parf< CPF Sc:h C'm!. Open Art.k. Total Approx. Units Unla Un~s k. k' Ac. Ac. k. Sp." k. Pop. VL 41 0 41 83.2 .5 83.2 131 VL 56 0 56 113.3 .5 113.3 179 VI. 89 0 89 178.8 .5 178.8 285 MU 0 0 0 0.0 0 7.9 5.8 3.3 18.8 0 VL 7 0 7 33.9 .5 10.0 43.9 55 TOTAL 203 0 203 409.2 28.0 7.9 5.8 10.0 3.3 0.0 0.0 438.0 650 'Part of park acreage requrements have been allocated to community parks. Actual park size 10 be determined by PBIks Master Plan. "Open space totals included In the San Ysidro Mount'" Parcalsummary. ;;'-79 1..1 Single Family Estate Areas ........... ........ (Minimum lot size .5 acres, total W1its 203) Provide for Regional Wildlife Corridor Design Guidelines Required for Uses on Wildlife Corridor Edge Vernal Pool Study Area: Subject to Further Study at SPA Level Open Space Scenic COrridor _.~ .~ ._- Provide For Regional Trail Connections utilize Landform Grading Adjacent to Resource Management Plan Open Space Ullllze Landfonn Grading In Lower Density Areas Exhibit 67a - County Approved Village 15 Land Use Map ,;2-<30 Planning Area 16 Use SF MF Total Roe. Dens ParkA CPF Sch C'm!. Open Art. Ac. Total Appro.. Unns UnAs UnAs At. c'+ Ac+ Ac. Ac. Sp.H Ac. Pop. Vl 99 0 99 169.5 0.5 29.2 198.7 317 VL 291 0 291 547.4 0.5 340.8 888.2 931 OTHER 0 0 0 0.0 0.0 2.5 1.7 25.4 29.6 0 TOTAL 390 0 390 716.9 2.5 1.7 0.0 0.0 370.0 25.4 \1165 1,248 'Part of park acreage requrements have been allocated to community parks. Actual park size to be determined by P8Iks Master Plan. HRestricted development area used in density caIcuJations but reelricted as open space. Open space IoIaIs included in the Proctor Valley Parcel summary. + The location of required park and communly pUlpose facrlly land WIll be subject to review at the SPA level. cJ-'6/ Planning Area 19 (Adjacent To JamuO Use SF MF TeU! Roe. Dens Park CPF Sell C'm!. Open Art. Ae. Total Approx. Un~s Unis UnIts Ac. Ai:! Ac,- Ac. Ae. Sp. Ae. Pop. VL 20 0 20 20.0 1.0 20.0 64 TOTAl. 20 0 20 20.0 1.0 0.0 0.0 0.0 0.0 0.0 0.0 20.0 64 'The locatiOll of required park and communly purpose faciily land will be subject to review at the SPA level. .;I, 3~ fJ .1 Ii d !J J " ! , II . . ~ ~ J " ! a ~ i II H }I !! Ii ,-.... 0-, ..... i " c 8 ! . I = II ~ oj ~ ~ .S ~ p:: "0 8 ~ ..... oj Q) < ~ = .~ p:: '-' Q.. ~ Q) '" ::J "0 8 ....:i oj ~ Q) ~ - '" ~ <Ii 3 ~ "3 S oj ....., I o r- - :.s ~ ~ ;2- :3'3 Planning Area 17 Use SF MF Total Res. Dens P8It< CPF Sch C'm!. Open Art. Ac. Total Approx. Un~s Unls Units Ac. Ac' Ac. Ac. Ac. Sp. - Ac. Pop. VL 153 0 153 323.7 0.25 287.1 610.8 490 VL 105 0 105 299.8 0.15 397.2 697.0 336 VL 29 0 29 125.2 0.125 110.2 235.4 93 VI. (CITY) 9 0 9 68 0.125 69 29 OTHER 0 0 0 0.0 0.0 0.0 0.0 0.0 0 TOTAL 296 0 296 816.7 0.0 0.0 0.0 0.0 794.5 0.0 Ipm 919 (CITY) TOTAL 287 0 287 748.7 0.0 0.0 0.0 0.0 794.5 0.0 1j!112 948 (COUNTY) 'The location of required park end oornmunly PUIJ'089 faciity land will be subjecl to review 91 the SPA level. "Restricted development area USEd in density celculations but restrided as open space. Open space totals included in the San Ysidro Mountain Parcel summary. cJl-8'f I " ! i !I I Ii II J 61 J 1/1/ ! 1/11 .~ .. i I .._~~\~. u' '''I' ~ U> . ',..', . ! f 1/,-. . . '. t' I "- \ \ ! I ! . J ~ , I ::> . ~ r--- ~ U> ..... <; 0:1 II ~ E <L) J " .. E <r: ~ " :; I:J/) ~ ~ i:: .~ . ~ ..... t:I-. N r- ...... .~ ,D .~ ~ ~ ;2 -,85 Planning Area 188 (Mesa Industrial Area) Use SF MF TctaI Reo. Dens Parte CPF Sch Ind. Opsn M.A/:. Total Approx. Un"s Un" Un" AI:. A/: AI:. AI:. A/:. Sp. A/:. Pop. I 0 0 0 0.0 0.0 215.8 215.8 0 OTHER 0 0 0 0.0 0.0 0.0 0.0 0 TOT At. 0 0 0 0.0 0.0 0.0 0.0 215.8 0.0 0.0 215.8 0 Planning Area 18b (paseo Ranchero Industrial Area)' Use SF MF Total Reo. Dens Parte CPF Sch Ind. Opsn M.A/:. Total Approx. Un"s Unts Units Ac. AI: Ac. k. A/:. Sp. A/:. Pop. I 0 0 0 0.0 0.0 69.7 69.7 0 OTHER 0 0 0 0.0 0.0 0.0 0.0 0 TOT At. 0 0 0 0.0 0.0 0.0 0.0 69.7 0.0 0.0 69.7 0 . Within the CIy of Chula Vista. industrial uses 819 the primary use in the ad'J8C9I1! Vdlage 3 planning area, however seconda1y residential village land us.. may be utilized upon the occurrence a certain requirements described II the Village 3 discussion. d)-8b Connection with Industrial (Planning Area 18-8) OIay Valley Road Connect to Existing Industrial ~=--~~j " ::20 "-.;a._______ .......TE ~0j1. " 75-1001 Average Buffer Along Arterials 75-1001 Average BUffer Along Arterials Exhibit 75 - Paseo Ranchero Industrial Area (Planning Area I8b) Land Use Map d-87 \. , FPEIR TECHNICAL ADDENDUM TECHNICAL ADDENDUM To The OTAY RANCH FINAL PROGRAM ENVIRONMENTAL IMPACT REPORT "Summary of Valle de Oro Issues/Concerns and JHK & Associates Responses" Prepared For: Otay Ranch Project Team Prepared By: JHK & Associates 8989 Rio San Diego Drive Suite 335 San Diego, CA 92108 October 8, 1993 TABLE OF CONTENTS Page No. INTRODUCTION 1 ISSUES AND RESPONSES 2 SUMMARY OF FINDINGS 9 APPENDIX A - SUMMARY OF VDO ISSUES AND JHK RESPONSES 11 LIST OF TABLES TABLE 1. OTAY RANCH FPEIR TRAFFIC ANALYSIS COMPARISON ANALYSIS OF SEGMENT VOLUMES & IMPAcrS 6 TECHNICAL ADDENDUM SUMMARY OF VALLE DE ORO ISSUES/CONCERNS INTRODUCTION IHK & Associates (JHK) in consultation with the City of Chula Vista and the County of San Diego, has prepared this Technical Addendum to document our response to a series of "Issues/Concerns" raised by the Valle de Oro (VDO) Community Planning Group. These issues/concerns were presented by the VDO Community Planning Group during a joint City of Chula Vista CounciVCounty of San Diego Board of Supervisors Public Hearings on the Otay Ranch Project and the Final Program Environmental Input Report (FPEIR). The issues and concerns of VDO dealt primarily with the transportation analysis conducted for the Otay Ranch Project and the Transportation, Circulation, and Access portion of the FPEIR. Specifically, their concerns focused on model validity and the accuracy of cumulative volume levels reported in the VDO planning area. Concerns over project traffic contributions within the VDO planning area were also questioned by the VDO Community Planning Group. This document is prepared in accordance with the CEQA Guidelines section which allows use of an Addendum when: "00.;(2) only minor technical changes or additionas are necessary to make the EIR under consideration adequate for CEQA; and/or (3) the changes to the EIR made by the addendum do not raise important new issues about the significant affects of the pro;ect." The purpose of this technical addendum is to define the VDO issues/concerns and to provide JHK's response. The addendum is organized into the following sections: . Introduction . Issues and Responses . Summary of Findings The Issues and Responses section is divided into a "Summary" section and a separate section entitled "Additional Background Discussion". This second section provides further infonnation to support the findings of the summary section. 1 ISSUES AND RESPONSES A series of meetings have been held with Mr. Jack Phillips of the Valle de Oro (VDO) Community Planning Group during the month of August, 1993 to discuss specific issues related to the Otay Ranch Traffic Analysis. Attendees at a total of three separate meetings have included Mr. Phillips, members of the Otay Ranch Project Team, JHK & Associates (Dan Marum), and representatives from the County of San Diego, the City of Chula Vista, San Diego Association of Governments (SANDAG), and Caltrans. Based on these discussions, a series of responses have been developed by JHK. The following section of this memorandum identifies each of these basic issues raised by Mr. Phillips, and the VDO Community Planning Group along with JHK and Associates responses. Issue 1: Is the "South bay Model" valid in Valle de Ora and other fringe areas for predicting Otay Ranch impacts? Response: Summary: Yes. Staff has consulted with SANDAG, Caltrans, the County, the City of San Diego and Chula Vista staffs as well as professional transportation consultants throughout the process and sought their advice on every aspect of traffic modeling for this project. All of the agencies remain convinced that the model used is a valid tool for predicting impacts associated with the Otay Ranch Project. There is no evidence before the decisionmakers that the model used for the analysis of traffic impacts for the Otay Ranch Final Program EIR (FPEIR) is adequate. Addiiional Background Discussion: The Final Program EIR (FPEIR) Transportation Analysis was based on an evaluation of build-out traffic impacts within a defined study area south of SR-54 and SR-94 in the south bay. This study area not only fully encompassed the 23,000-acre Otay Ranch project but extended well beyond its boundaries. Within this study area and throughout the entire southbay, all land use assumptions used in the transportation model were based on build-out conditions. For all community planning areas along the "fringe" of the study area, including the Valle de Oro Community Plan Area and the remainder of the San Diego County (to the north and east of the South bay), all land use assumptions were based on SANDAG Series VII Growth Projections for Year 2010. All of the EIR Traffic Analyses considered the cumulative effects of development in the region, based on the "Combined South bay Model" developed for the Otay Ranch Transportation Analysis. The process for defining the study area boundary involved an analysis of "project only" traffic assignments. This computer assisted analysis indicated that the 2 majority of project generated trips would utilize regional facilities as the trips enter or exit the Southbay subregion. Thus, facilities such as I-80S, SR-S4, SR- 94, etc., represent the primary network for project traffic based on average trip length and the fact that the core of the project is located some 7 to 10 miles south of the northern edge of the study boundary (along SR-S4 and SR-94). Essentially, once project gerated trips access a primary network facillity, the impacts beyond that facility significantIly dissipate to an insiginficant contribution. The method for detennining the Study Area for this project is consistent with the methodology that is utilized when analyzing projects of this size and scale. Technical assistance provided by SANDAG and all affected jurisdictions, including the County, cities of Chula Vista and San Diego, Caltrans and MTDB, ensured that the modeling of future traffic volumes and the subsequent identification of traffic impacts were prefonned accurately. Valle de Oro references the SANDAG SR-S4 Corridor Study as an analysis which contains a different conclusion concerning the traffic volumes on Millar Ranch Road. Specifically, Valle de Oro cited a portion of the SR-S4 Corridor Study which indicated a traffic volume of 36,000 ADTs on Millar Ranch Road near SR- 94. In contrast, the Otay Ranch traffic study of the Phase II Progress Plan shows 27,000 ADTs along Millar Ranch Road. The SANDAG SR-54 Corridor Study and the Otay Ranch EIR traffic study appear to conflict because each study employs different assumptions concerning the land use and the traffic network. However, these differences are irrelevant because the increased trips on Millar Ranch Road are due primaily to cummulative traffic impacts not Otay Ranch traffic. 1. Land Use Assumptions. The "Combined Southbay Model" used for the Otay Ranch Transportation Analysis assumes build-out of the Southbay study area. That area includes the area south of SR-54, including the Otay Ranch. For the area north of SR-54, the model assumes a 20 year planning horizon consistent with the SANDAG Series VII population forecast. The "SR-54 Corridor Study Model" assumes build-out of the SR-54 corridor area. The Otay Ranch model did not refine the area north of SR-54 to include build-out data, because Otay Ranch's forecasted contribution to traffic volumes north of SR- 54 fall below levels of significance. Specifically, for those facilities north of SR- S4 forecasted to exceed LOS "C", project impacts for the New Town Plan (the most intense development plan evaluated for Otay Ranch), never exceed 10% of the project traffic volumes (Otay Ranch Response to Comments document, p. LO.2S-S). However, under the "SR-S4 Corridor Study Model" cumulative volume conditions, two additional roads are forecasted to operate over LOS "C" (Millar Ranch Road - LOS "D" and SR-94tCampo Road (eto Millar Ranch Road) LOS "F"). Project contribution for these facilities ranges from 13 to 33 percent. These 3 Issue 2: higher cumulative volumes may necessitate special design considerations, at some time in the future, perhaps as late as Year 2010. Specifically, on SR-94, the high cumulative volume from this model indicates the need for increasing the capacity of this future freeway facility from four lanes to six lanes. SR-94, however, was sized based on 20-year traffic volume projections rather than the buildout volumes predicted by this most recent modeling effort. 2. Traffic Network: The SANDAG SR-54 Corridor study assumes, for analytical purposes, a series of alternative traffic networks. The alternative that causes Valle de Oro concern assumed SR-54 to be a six-lane expressway terminating at Main Street in EI Cajon (an alternative which has not been approved). Configuring SR- 54 in such a manner diverts and encourages trips to flow onto Millar Ranch Road, which may explain the increase in trips from 27,000 ADT (as shown in the Otay Ranch analysis) to 36,000 ADT shown in the SR-54 analysis. A review of the two models indicate that if similar network assumptions are used, similar volumes occur on Millar Ranch Road. This is true in the SR-54 alternative that tests SR- 54 as a six-lane expressway from SR-125 to SR-94 continuing as a four-lane collector, "t"-ing into Jamacha Road at Hillsdale. At the point in time when the Otay Ranch Transportation Analysis and modeling work was conducted (and at the time the Draft FPEIR was released for public review), the "Combined Southbay Model" was the most accurate model available for project related impacts. The Project Team spent considerable effort refming all input parameters for conducting computer modeling within the Southbay Study Area. It is recognized that the "SR-54 Corridor Study Model" generates much higher cumulative volumes within the fringe planning areas along the north-east edge of the Otay Ranch study area. However, the response to-comment number two below provides a discussion of the level of project contribution for the Otay Ranch development as a proportion of the cumulative volumes predicted by the "SR-54 Corridor Study Model" and the "Combined Southbay Model" used for the Otay Ranch Transportation Analysis. Additionally, the Otay Ranch contains safeguards to ensure that proper traffic assumptions are used at each SPA level. Upon the selection of the final facility for SR-54, all subsequent modelling will be based on that facility. At each phase of the Otay Ranch the most recent network configuration will be used and appropriate mitigation will be developed for each phase. Are the level of impacts to the Valle de Oro area correctly reported in the FPEIR for the Otay Ranch Project? 4 Response: Issue 3: Response: Summary: Yes. The new traffic projections from the SR-54 Corridor Study enable a new comparison of the impacts associated with the Otay Ranch Project (as compared with the county General Plan Land Uses for the property). The new "Impacts" (the differences between the Otay Ranch Volumes and the county General Plan volumes) are consistent with the impacts reported previously. Additional Background Discussion: As indicated at the end of response to comment number one, JHK has prepared an updated reference table (see Table 1) for all Circulation Element facilities within the Valle de Oro Community Plan Area. This table identifies the cumulative volume levels on these local facilities from each of the travel forecast models discussed above ("Combined Southbay Model" used for the Otay Ranch Transportation Analysis and the "SR-54 Corridor Study Model"). 10 addition to identifying the significant differences between the two models in tenns of cumulative volumes on these local facilities, the table provides an indication of the estimated amount of project related traffic contribution from the Otay Ranch development. The Otay Ranch land use alternative which has been selected for this analysis is the New Town Plan which represents the most intensive plan evaluated for the Otay Ranch and would thus create the greatest degree of project impact. As revealed by the table, the percent contribution of project traffic to the total cumulative traffic volume is insignificant when comparing the "Combined Southbay Model" with the "SR-54 Corridor Study Model." It is important to recognize that a number of facilities (including: Millar Ranch Road, Avocado Boulevard, SR-94/Campo Road, Troy Street, Fuerte Drive, Jamacha Road, and State Route 54), located along the fringe area of the Otay Ranch Transportation Study Area, are forecasted to experience poor operating levels of service (LOS D, E, or F) under the cumulative volume scenario predicted by the "SR-54 Corridor Study Model" and/or the "Combined Southbay Model" regardless of Otay Ranch. Is the FPEIR valid with respect to analysis of impacts related to inclusion of MiUar Ranch Road as part of the project? Summary: Yes. 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" ;f< ;f< " " .. .. ~ .. .. " _ 0 - ~ ! 0.: I I. s . ' ", o' , : .. ~ ;;; :;; ~ - ~ '" .. ~ ~ - .. W N .. ::; ~ ;; ~ 0 ~ ;f< => ;f< tit ~ " .. w ... w ~ .. .. ~ " .. .. ;f< .. .. ... " I I ~ ~ 0 -; > ..: :>0 > Z n ::: ::: 0 0 '" ,.. ~ Z '" ::J -;n 00 ::J::: z.. ..> ,..:>0 >- '- ZOO ::: >Z-; ;.;,..>> -; ..: Ro-:"-~'" >::J,..> OO_-<:'Z 1:Il~1:Il(j 0:::-::: ratI'J~"!1 >~~~ -4 ....,f.A~_ .. t!:I~~== cr r.n("'1~~ iD > 0":>0 ~ "'~> c: "''''." ~ _Z::J c: 0-; '" o",n -; :>00> ~ "',..Z .;<> -;c:> ~ c:..,.. '" O~..: '" ..:"'", .... "'- :':Ro~ 0- 0::: "''' ,..> ?<'1 ..,,-; :;'''' ::: > '" '" - - .. :>0 0 ~ :>0 '" '" '" .. ,.. > Z > ,.. .:: 1. Traffic analysis has shown that the elimination of Millar Ranch Road would not eliminate a significant number of trips from the corridor. Rather, it would force the traffic to take a longer path through Jamul and along SR-94 with associated additional congestion and pollution. 2. The Board of Supervisors provided direction to County Staff in the Hidden Valley Estates hearings. 3. The inteIjurisdictional Task Force provided direction in response to the Millar Ranch Road Issue Paper. Based on this direction and the professional judgement and experience of staff and consultants, Millar Ranch Road was included in most of the Gtay Ranch Plan Alternatives. The FPEIR then analyzed the impacts of those plans appropriately. If the City Council and the Board of Supervisors select a Plan that does not include Millar Ranch Road, as a public road, an assessment of the adequacy of the FPEIR will be required to address that facility. Additional Background Discussion: In traffic modeling for the Otay Ranch Project, Millar Ranch Road was assumed to be a public road, except in the "No Project Alternative", which did not assume Millar Ranch Road and the Composite General Plans Alternative (which did not assume a connection to Proctor Valley Road), consistent with previous Board of Supervisors' action on Hidden Valley Estates development. It should be noted that staff is not recommending that the Circulation Element be amended to classify Millar Ranch Road as a public road, only that the Jamul text be amended to delete language mandating private use only. Under County Road Standards, a maximum of 250 dwelling units (2,500 trips) can be served by a private road. It is estimated that the Gtay Ranch Project could contribute up to 10,000 vehicles per day (vpd) to this facility under the Phase II Project Plan Alternative, while total cumulative volumes on Millar Ranch Road at a mid- segment location range from 24,000 vpd (according to the "Gtay Ranch Combined Southbay Model") to 30,000 vpd (according to "SR-54 Corridor Study Model"). Thus, even without the Otay Ranch, projected traffic flow on Millar Ranch Road would exceed County standards for use as a private road. 7 Issue 4: Response: Is the Final Program EIR valid with respect to analysis of impacts related to modeling the SR-125 as a freeway instead of modeling as a toll road? Summary: Yes. Traditional transportation modeling utilizes standard speed and delay parameters for freeways and surface roads. There are no standard parameters or even guidelines for toll roads, since each one is unique. The project team did develop projections in conjunction with SANDAG, Caltrans, MTDB and the other involved agencies (Chula Vista, the County and City of San Diego) to estimate those impacts. The estimated impacts were reported in the Otay Ranch Traffic Analysis Technical Report for the Phase I Progress Plan which was included as an appendix to the FPEIR. However, no discretionary approval was sought for a toll road by the Otay Ranch Project. Caltrans is currently involved in seeking such a discretionary approval and will be analyzing toll road impacts as a part of their EIRJEIS process. As the Lead Agency for that proposed project, Caltrans will be conducting a seperate environmental analysis. Another issue related to the impacts of a toll road facility in the Southbay is that the Otay Ranch Analysis is based on buildout of the project (40-50 years), which extends beyond the 35 year term of the toll road franchise agreement. In the interim, numerous SPA level EIRs will analyze the evolving traffic situation including actual diversion from the toll road. Performance Standards (Threshold, Standards, Congestion Management and Growth Management restrictions) will prevent impacts from occurring. Additional Background Discussion: The Toll Road Analysis conducted by IHK for the Phase I Project Plan Alternative was conducted with the assistance of SANDAG staff and members of the Transportation Sub-Committee. This analysis revealed that the toll road facility would potentially have a positive effect on Circulation Element facilities within and adjacent to the Valle de Oro Community Plan Area. Circulation facilities in the north eastern portion of the Otay Ranch Study Area such as Proctor Valley Road, Millar Ranch Road, State Route 94, and State Route 54, would experience reductions in Average Daily Traffic (ADT) in the range of 3,000 to 8,000 vpd. The logic within the modelling process that would result in these findings is based on a concept of "Reverse Attraction" when the SR-125 facility is coded as a toll road instead of a free facility. Thus, under toll road assumptions, vehicle trips are directed away from State Route 125 and seek out new trip paths and alternate routes which present viable options in completing their trip. Roads which would be used to access the freeway experience the same type of reduction in volumes as the freeway itself when SR-125 is converted to 8 a toll road. The EIR/EIS for the State Route 125 facility, currently being prepared by Caltrans, will include an assessment of toll road impacts base on potential levels of diversion. This EIR will also be required to mitigate the impacts of diverted trips as a result of toll road implementation on an area-wide basis with in the Southbay. This analysis will include the segments of the critical facility of Proctor Valley Road and Millar Ranch Road in the impact and mitigation analysis. Issue 5: Is the Final Program EIR valid with respect to analysis of impacts related to modeling the SR-125 using a western alignment instead of an eastern alignment? Response: Summary: Yes. When the EIR was prepared Staff consulted with the involved agencies to determine how SR-125 should be modeled. The consensus was that the Eastern Alignments were not viable and that the Western Alignment, as depicted in the Chula Vista General Plan, should be used in the Otay Ranch Traffic Analysis. This decision has been reinforced by the exhaustive and thorough Alternatives Report recently issued by Caltrans in which they determined that none of the Eastern Alignments showed sufficient promise to justify future study. Additional Background Discussion: During the initial phases of the Transportation Analysis for the Otay Ranch Project, the western alignment of State Route 125 was the only alignment under consideration by Caltrans. As the Transportation Analysis continued over a number of years, the concept of Eastern Alignment alternatives were introduced. A series of preliminary evaluation and assessments on the viability of Eastern Alignments vs. Western Alignment have been conducted by Caltrans. Recently, these evaluations have resulted in the selection of a set of final alternative alignments which will receive consideration as the draft and final EIR/EIS for State Route 125 is being developed. Thus, the validity of the Otay Ranch Traffic Analysis is upheld by the elimination of Eastern Alignment alternatives for future consideration by Caltrans. SUMMARY OF FINDINGS The review of the transportation analysis conducted for the Otay Ranch Project and included in the FPEIR, as a result of the issues/concerns raised by VDO, confirmed the level of Otay Ranch project contribution to the future cumulative traffic volumes within the VDO planning area. The following items summarize the primary fmdings of the technical review/analysis conducted by JHK and Appendix A provides a series of graphics which were developed to further summarize our findings: 9 . At the point in time when the Gtay Ranch Transportation Analysis and modeling work was conducted and the FPEIR released for public review, the "Combined Southbay Model" was the most accurate model available for project related impacts. The Project Team spent considerable effort refining all input parameters for conducting computer modeling within the Southbay Study area. . It is recognized that the "SR-54 Corridor Study Model" generates much higher cumulative volumes within the fringe planning areas along the north-east edge of the Gtay Ranch study area. As compared to the model utilized for the Gtay Ranch Project ("Combined Southbay Model"). . However, the level of project contribution from the Gtay Ranch on the VDG Planning Area streets is consistent between the two models and agrees with the project impacts reported in the "Response to Comments" included in the FPEIR. The increased trips on the circulation network with in the VDG Planning Area are derived from other areas of the Southbay and the surrounding subregion. . Additionally, the Gtay Ranch contains safeguards to ensure that proper traffic assumptions are used at each SPA level. Upon the selection of the final facility for SR-54, all subsequent modelling will be based on that facility. 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'< "0 ~. nO '" " 0. 5' - ::I" '" Q - :. .. . -< 1t ~ tI1 - ::I" en '" '" .., ::I 3 ::I S- '" '" ::I"t'!1 o - :E ;;0 ~ :E ;;o~ , -"0 tv ii! UI"O '" .. ::I" .., o '" c: 0. -~ 0._ C'~ '" ~ 3 n o 0 0. ::I '" ~ " 0." 0. :g. - ::I" - ::I" '" ::I < o < '" 0. ~ (JQ '" ::I n C;;' '" - o ~ - - o c:;:I.. o o "1 o .... !III !III = o !III ~ PI' > QII !III o (') .... I>> .... o !III ~ o !III ~ o = !III o !III FPEIR FINDINGS STATEMENT OF OVERRIDING CONSIDERATIONS ~ ~........ ~.... OTA"'r' RAnCH JOINT PLANNING PROJECT COUNTY Of SAN mEGO . C!1Y OF CHULA VISTA OTAY RANCH GENERAL DEVELOPMENT PLAN WCTIY COUNCIL FINAL PLANW (MITIGATED PHASE II - PROGRESS PLAN) FINDINGS OF FACT October 28, 1993 l 315 Fourth Avenue, Suite A, Chula Vista, CA 91910 . (619) 422-7157. FAX: (619) 422-7690 TABLE OF CONTENTS 1. INTRODUCTION ........................................ 1 II. PROJECT DESCRIPTION . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 2 III. PROGRAM EIR ................ ........................ 6 IV. RECORD OF PROCEEDINGS .............................. 6 V. TERMINOLOGY/THE PURPOSE OF FINDINGS UNDER CEQA .. 7 VI. LEGAL EFFECT OF FINDINGS . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 9 VII. MITIGATION MONITORING PROGRAM..... ... ... ... . .. . .. . 9 VIII. DIRECT SIGNIFICANT EFFECTS AND MffiGATION MEASURES 9 A Land Use, Planning and Zoning ........................ 14 B. Landform Alteration/Aesthetics ........................ 18 C. Biological Resources . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .. 24 D. Cultural Resources .................................. 91 E. Geology and Soils . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .. 95 F. Paleontological Resources . . . . . . . . . . . . . . . . . . . . . . . . . . . .. 97 G. Agricultural Resources ............................... 99 H. Mineral Resources ................................. 102 1. Water Resources and Water Quality .................... 103 J. Transportation, Circulation and Access .................. III K. Air Quality . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .. 120 L. Noise. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . " 123 M. Public Services and Facilities. . . . . . . . . . . . . . . . . . . . . . . . .. 126 N. Risk of Upset ..................................... 142 IX. CUMULATIVE SIGNIFICANT EFFECTS AND MITIGATION MEASURES......................................... ....... 143 A. Land Use, Planning and Zoning ...................... . 147 B. Landform Alteration/Aesthetics ...................... . 148 C. Biologil._I Resources . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .. 149 D. Cultural Resources ................................. 150 E. Geology and Soils. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .. 151 F. Paleontological Resources . . . . . . . . . . . . . . . . . . . . . . . . . . .. 152 G. Agricultural Resources .............................. 152 H. Mineral Resources ................................. 153 1. Water Resources and Water Quality .................... 153 J. Transportation, Circulation and Access .................. 154 K Air Quality . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .. 154 L. Noise. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .. 155 M. Public Services and Facilities . . . . . . . . . . . . . . . . . . . . . . . . .. 1.56 N. Risk of Upset ..................................... 162 X. FEASIBILITY OF POTENTIAL PROJECT ALTERNATIVES..... 163 A. Phase I-Progress Plan Alternatives. . . . . . . . . . . . . . . . . . . . .. 164 B. Phase II-Progress Plan. . . . . . . . . . . . . . . . . . . . . . . . . . . . . .. 166 C. Fourth Alternative ................................. 167 D. The Project Team Alternative .... . . . . . . . . . . . . . . . . . . . . .. 168 E. The Composite General Plans . . . . . . . . . . . . . . . . . . . . . . . .. 168 F. Low Density Alternative ............................. 170 G. Environmental Alternative ........................... 170 H. No Project Alternative .............................. 171 Offsite Alternatives A. Greater Dulzura Offsite Alternative .................... 172 B. West Ramona Offsite Alternative ...................... 173 C. East Ramona Offsite Alternative. . . . . . . . . . . . . . . . . . . . . .. 174 D. Rancho Guejito Offsite Alternative ..................... 174 E. Deluz Offsite Alternative ............................ 175 XI. STATEMENT OF OVERRIDING CONSIDERATIONS ......... 176 October 28, 1993 BEFORE THE CHULA VISTA CITY COUNCIL RE: Otay Ranch General Development Plan; "City Council Final Plan" (Mitigated Phase II-Progress Plan) FINDINGS OF FACT I. INTRODUCTION The Final Program Environmental Impact Report (FPEIR) prepared on this project addressed the potential environmental effects of developing over 23,000 acres of land with a new community. The New Town Plan submitted by Baldwin Vista Associates contained both a land use plan and policy language to guide the long-term development of the 23,088-acre property. The New Town Plan proposed a mix of residential neighborhoods, commercial centers, research-oriented industrial uses, natural open spaces, recreational parks, a civic center, art centers, resort facilities, a town center, and an university site. That plan, like the plan approved by the City Council envisioned a series of villages or clusters of development within a cohesively planned community. In addition to the New Town Plan, the FPEIR evaluated twelve onsite and offsite alternatives to the Project, including the Phase II-Progress Plan (with EastLake Land Swap parcels) which, as modified with additional mitigation, became the basis for the City Council Final Plan. This recommendation came after numerous hearings and lengthy review. The modifications to the Phase II-Progress Plan, which result in the City Council Final Plan or the Mitigated Phase II-Progress Plan (hereinafter, "Project"), include the following: . Total land area is 23,068 acres (22,509 acres in County and 390 acres in City of San Diego); includes 169-acre East Lake parcels of Phase II-Progress Plan. . Total dwelling unitsl is 24,224. (If the university is not developed, total dwelling units is 27,059.) ITotal dwelling units and proposed population is based on the City obtaining industrial property on the south side of Otay River Valley. If Village 3 develops as industrial, total dwelling units is reduced by 741 units, and projected population is reduced by 2,288 persons. Page 1 . Projected population (see, footnote 1 is approximately 70,315 persons. (If the university is not developed, proposed population is 78,555.) . More open space, located along the western edge of Salt Creek and northern slopes of Otay River Valley Central Proctor Valley. Twenty-two (22) fewer acres of Commercial use. Village 3 on Otay River parcel east of Otay Landfill; area proposed as Medium and Medium-High Residential/Commercial could be developed with Industrial use. . Scenic Corridor designation changed to General Plan Open Space near major roadways to preclude density transfers. Roadway alignment adjustments for Hunte Parkway, Otay Valley Road, and deletion of Alta Road to mitigate impacts to biological resources. Adjustment of development area to avoid wildlife corridors on parcel near Proctor Valley and Little Cedar Canyon. . Golf Course within Proctor Valley Village. . Required funding for LRT prior to exceeding 15,000 dwelling units or 4,000,000 square feet of commercial. . Designation of estate housing south of Lower Otay Lake. After reviewing the FPEIR prepared for Otay Ranch, which included the analysis of the Phase II-Progress Plan, the Chula Vista City Council is of the opinion that the impacts identified for the Phase II-Progress Plan are substantially the same or less as those for the City Council Final Plan or the Mitigated Phase II-Progress Plan, (hereinafter "Project"). Therefore, the Council determined that the FPEIR is adequate for considering the Project. II. PROJECT DESCRIPTION The Project involves 22,899 acres and allows a maximum of 24,224 dwelling units (if the university is not developed 27,059 dwelling units) to be constructed, resulting in a population of approximately 70,315 (if the university is not developed, 78,555). The buildout of the Project is projected to take 30-50 years. The plan is generally divided into 14 villages, 6 planning areas, plus the Eastern Urban Center (EUC). Most of the proposed homes are located in 14 villages; 11 on the Otay River parcel, 2 on the Proctor Valley parcel, and one on the San Ysidro parcel. Rural Page 2 estate development is planned for the eastern parcels. An extensive open space system and circulation system, including greenbelt parkways and hiking trails, would connect the various development areas and parcels of Otay Ranch. A Resource Management Plan (RMP), including an approximate 11,400-acre management preserve, would be implemented. The management preserve will be conveyed in perpetuity to an entity other than the Applicant. The Otay River parcel is dominated by the Eastern Urban Center (EUC). This mixed use area features a wide variety of office-professional, retail commercial, commercial, civic, cultural, park, and high density residential uses. Within the EUC, pedestrian traffic is encouraged by the close proximity and mixed nature of the uses. The potential future extension of the Light Rail Transit (LRT) line, which would run north to south through the EUC, ultimately would also encourage non-vehicular travel. As noted above, the Project limits development until funding and construction of LRT is assured. In general, villages around the EUC decrease in residential density with distance from the EUC. Each village is internally designed to encourage pedestrian traffic featuring mixed-use village centers near the core. All villages are connected by a system of paths and trails. A major four-year university could locate with additional environmental review in the far eastern portion of the Otay River parcel west of Wueste Road. The GDP/SRP Land Use Map indicates the precise area where an university might locate. At any time, this area could be developed for an university campus and ancillary uses such as campus-related commercial, residential and research and development support services. However, the use of the area west of Wueste Road, east of Hunte Parkway, by a university is permitted provided that the use of Salt Creek Canyon (including defining slopes) is limited to trails, passive recreation, biological research and educational activities in keeping with the preservation of sensitive habitat and biological species located there. No buildings or structures shall be permitted within Salt Creek. In addition to this primary land use designation, the Council has identified a secondary land use designation. Essentially, the secondary designation allows for villages to be developed in the areas of Villages 9 and 10 in accordance with the GDP /SRP Part II, Chapter 1, Sections F9 and FI0. The area west of Wueste Road, east of Hunte Parkway, has a secondary designation of open space. This area may be developed for university purposes at any time. The secondary designations described above will only be allowed after the development of Western Phases I, II and III, as identified in the Otay Ranch Phasing Plan. Completion of development for purposes of this requirement shall be deemed to be the issuance of building permits for 75% of the residential units in Phases I through III. Should an university site be proposed on the site, appropriate environmental review would be required prior to project approval. Land uses on the Proctor Valley parcel are generally confined to three geographically distinct areas arranged around the Jamul Mountains. These three areas include the Resort Center Village, Central Proctor Valley Village, and North Proctor Valley. The Resort Center Village (Village 13) consists of 783 acres and includes 2,438 dwelling units and a Page 3 destination resort of 800 rooms. This village is located on the mesa northeast of Lower Otay Lake. The Resort will be developed with a village concept with residential neighborhoods arranged around the resort. The Central Proctor Valley Village (Village 14) is located in a gently rolling valley, bounded by San Miguel Mountain on the west and the Jamul Mountains to the east. Residential densities vary from low to low-medium to medium, with one village center. Approximately 1,713 homes are be located in this 828-acre village. A golf course or equestrian complex is situated within this portion of the Project. The 1,136-acre North Proctor Valley (Planning Areas 16 and 19) area allows for 410 residences. Lots are a minimum of 1 acre in size, with most areas featuring lots of 3-acre average size. No villages would be located in this area. Land uses on the San Ysidro parcel are clustered in two distinct areas. A small Estate Village (Village 15) is located on the western portion of the parcel south of the lake in a village consisting of approximately 516 dwelling units located on 773 acres. A mixed-use village center of approximately 27 acres is also situated near the residences. Circulation is provided by rural roads, which attempt to follow natural topographic contours. The eastern portion of this parcel (Planning Area 17) features very low density residential uses intermingled with "limited development" on steeper slopes. In this area around the lake, the Project allows 516 dwelling units on 773 acres, for estate housing. Residential densities vary based on terrain, slope, and proximity to developed areas; a lot minimum of 4 acres is required in the northern region near Otay Lakes Road, minimum lot sizes increasing east and southward to approximately 8 acres in the more remote locations of the parcel near Dulzura. Commercial and institutional uses, schools, and parks proposed in the Project are distributed throughout the entire Otay Ranch. The majority of commercial uses located in the EUC. In an effort to reduce vehicle miles travelled, each of the 14 village centers contain a small component of commercial, office, and quasi-public/public uses. Freeway commercial is situated on the Otay River parcel adjacent to proposed SR-125. The Project will convey 13,685 acres of natural open space, encompassing the Otay River Valley, Jamul Mountains, and San Ysidro Mountains. A 11,375-acre managed preserve operated in accordance with an approved Resource Management Plan (RMP) shall be established to preserve and manage the resources and ensure their viability. In addition, another 1,165 acres is proposed as natural open space outside of the Preserve (Jamul and Dulzura Planning Areas). The Project also proposes a system of paths and trails that connect the urban villages and their parks, forming a passive and active recreation network throughout the Project. The total open space in the project is therefore 13,685 acres (13,786 without the planned university). The circulation system includes an integrated system of prime arterials, major roads, and colle~tors to maximize circulation efficiency, Three Otay River crossings will carry traffic to and from Otay Mesa: SR-125 (proposed), Heritage Road, and La Media. The potential future extension of the Light Rail Transit (LRT) line which would run north to south Page 4 through the EUC ultimately would also encourage non-vehicular travel. These pedestrian and public transit components provide the Project with means of transportation other than automobiles. The Project objectives as set forth in the FPEIR are hereby incorporated by this reference. (FPEIR, p. 2-1) The discretionary actions taken by the decis:onmakers in approving this Project are: . Amendments to the General Plan - incorporate the entire 23,068-acre Otay Ranch Project into the General Plan. . General Development Plan (GDP) - a comprehensive plan for Otay Ranch which identifies land uses and patterns, objectives and policies, and provides a focus for developing SPAs and subdivision maps, including: Resource Management Plan (RMP) - a program designed to provide for the long-term protection and management of natural, cultural, and scenic resources located on the Otay Ranch property and serves as an equivalent of the County's Resource Protection Ordinance (RPO). . Service/Revenue Plan - defines and compares the estimated operation and maintenance costs and revenue characteristics of various land use plans. Outlines municipal and regional service and infrastructure responsibilities, and how facilities and services will be financed. . Village Phasing Plan - an implementation requirement of the GDP Growth Management chapter to ensure the timely and orderly development of villages. The plan is designed to ensure that Otay Ranch complies with the goals, objectives, and policies of the Growth Management chapter and the facility threshold standards and processing requirements contained in the Capital Facilities chapter of the GDP. . Facili(y Implementation Plans - consists of 22 facility implementation plans for public, social, and community facilities. Each individual plan will evaluate existing facilities and analyze demand for new facilities necessary to serve the build out of the Otay Ranch. Prezoning - 22,509 (this number excludes San Diego City (369 acres) and East Lake (169 acres) acreages) acres of the Otay Ranch to be prezoned to PC (Planned Community) zone, to be effective only upon future annexation into the City of Chula Vista. Page 5 III. PROGRAM EIR A program EIR is an EIR which may be prepared on a series of actions that can be characterized as "one large project" and are related either: (1) geographically; (2) as logical parts in the chain of contemplated actions; (3) in connection with the issuance of rules, regulations, plans, or other general criteria to govern the conduct of a continuing program; or (4) as individua' activities carried out under the same authorizing statutory or regulatory authority and having generally similar environmental effects which can be mitigated in similar ways. (CEQA Guidelines, 14 Cal. Code Reg., ~ 15168, subd. (a).) Use of a program EIR can provide the following advantages. The program EIR can: (1) provide an occasion for a more exhaustive consideration of effects and alternatives than would be practical in an EIR on an individual action; (2) ensure consideration of cumulative impacts that might be slighted in a case-by-case analysis; (3) avoid duplicative reconsideration of basic policy considerations; and (4) allow the Lead Agency to consider broad policy alternatives and program-wide mitigation measures at an early time when the agency has greater flexibility to deal with basic problems of cumulative impacts; and (5) allow reduction in paperwork. (CEQA Guidelines, 14 Cal. Code Reg., ~ 151268, subd. (b).) "Use of the program EIR also enables the Lead Agency to characterize the overall program as the Project being approved at that time. Following this approach when individual activities within the program are proposed, the agency would be required to examine the individual activities to determine whether their effects were fully analyzed in the program EIR. If the activities would have no effects beyond those analyzed in the program EIR, the agency could assert that the activities are merely part of the program which had been approved earlier, and no further CEQA compliance would be required. This approach offers many possibilities for agencies to reduce their costs of CEQA compliance and still achieve high levels of environmental protection." (CEQA Guidelines, 14 Cal. Code Reg., discussion following ~ 15168). IV. RECORD OF PROCEEDINGS For purposes of CEQA and the findings set forth below, the administrative record of the City Council decision on the environmental analysis of this Project shall consist of the following: . The Draft and Final Program EIR for the Project, including appendices and technical reports; All reports, applications, memoranda, maps, letters and other planning documents prepared by the planning consultant, the project Applicant, the Page 6 environmental consultant, the Otay Ranch Project staff, the City of Chula Vista, and the County of San Diego that are before the decisionmakers as determined by the City Clerk; . All documents submitted by members of the public and public agencies in connection with the EIR on the Project; . Minutes and verbatim transcripts of all workshops, public meetings and public hearings held by the City of Chula Vista and County of San Diego, or video tapes where transcripts are not available or adequate; . Any documentary or other evidence submitted at workshops, public meetings and public hearings; and Matters of common knowledge to the City of Chula Vista which they consider, including but not limited to, the following: Chula Vista General Plan (update) - 2010 County of San Diego General Plan County of San Diego Resource Protection Ordinance Relevant portions of the Zoning Codes of the City of Chula Vista and County of San Diego V. TERMINOLOGY /THE PURPOSE OF FINDINGS UNDER CEOA Section 15091 of the CEQA Guidelines requires that, for each significant environmental effect identified in an EIR for a Project, the approving agency must issue a written finding reaching one or more of the three allowable conclusions. The first is that "[c]hanges or alterations have been required in, or incorporated into, the Project which .J!Yill.d or substantially lessen the significant environmental effect as identified in the final EIR." (Emphasis added.) The second potential finding is that "[s]uch changes or alterations are within the responsibility and jurisdiction of another public agency and not the agency making the finding. Such changes have been adopted by such other agency or can and should be adopted by such other agency," The third permissible conclusion is that "[s]pecific economic, social or other considerations make infeasible the mitigation measures or Project alternatives identified in the final ErR." Regarding the first of three potential findings, the CEQA Guidelines do not define the difference between "avoiding" a significant environmental effect and merely "substantially lessening" such an effect. The meaning of these terms, therefore, must be gleaned from Page 7 other contexts in which they are used. Public Resources Code section 21081, on which CEQA Guidelines section 15091 is based, uses the term "mitigate" rather than "substantially lessen." The CEQA Guidelines, therefore, equate "mitigating" with "substantially lessening." Such an understanding of the statutory term is consistent with Public Resources Code section 21001, which declares the Legislature's policy disfavoring the approval of projects with significant environmental effects where there are feasible mitigation measures or alternatives that could "avoid or substantially lessen" such significant effects. For purposes of these findings, the term "avoid" shall refer to the ability of one or more mitigation measures to reduce an otherwise significant effect to a less-than-significant level. In contrast, the term "substantially lessen" shall refer to the ability of such measures to su bstantially reduce the severity of a significant effect, but not to reduce the effect to a level of insignificance. Although CEQA Guidelines section 15091 requires only that approving agencies specify that a particular significant effect is "avoid[ ed] or substantially lessen[ ed]," these findings, for purposes of clarity, will specify whether the effect in question has been fully avoided (and thus reduced to a level of insignificance) or has been substantially lessened (and thus remains significant). The purpose of these findings is to systematically restate the significant effects of the Project on the environment identified in the Final Program EIR, and determine the feasibility of mitigation measures and Project alternatives identified in the Final Program EIR which would avoid or substantially lessen those significant effects. Once the City has adopted sufficient measures to avoid a significant impact, the City does not need to adopt every mitigation measure brought to its attention or identified in the Final Program EIR. The City shall not reduce housing units as a mitigation measure to a Project, if the City determines another specific mitigation measure will provide a comparable level of mitigation. It is the policy of the State of California and the City of Chula Vista to not approve a Project if there are available feasible mitigation measures or project alternatives which would substantially lessen that Project's significant environmental effects. Only when such mitigation measures or Project alternatives are found to be infeasible because of specific economic, social or other conditions set forth in these findings may the City approve a Project in spite of its significant effects. Another purpose of these findings is to bring focus to Project alternatives in the ultimate decisionrnakers' decision whether to approve or disapprove the Project. If, after application of all feasible mitigation measures to the Proj~ct, significant impacts remain, Project alternatives identified in the FPEIR must be reviewed arid determined to be feasible or infeasible. The findings set forth the reasons, based on substantial evidence in the record, that the decisionmakers conclude any such Project alternatives are infeasible (see further discussion in Feasibility of Alternatives Section). Page 8 VI. LEGAL EFFECT OF FINDINGS To the extent that these findings conclude that proposed mitigation measures outlined in the Final EIR are feasible and have not been modified, superseded or withdrawn, the City of Chula Vista ("City" or "decisionmakers") hereby binds itself and any other responsible parties, including the Applicant and its successors in interest (hereinafter referred to as "Applicant") , to implement those measures. These findings, in other words, are not merely informational or hortatory, but constitute a binding set of obligations that will come into effect when the City adopts the resolution approving the Project. The adopted mitigation measures are express conditions of approval. Other requirements are referenced in the mitigation monitoring program adopted concurrently with these findings, and will be effectuated through the process of implementing the Project. VII. MITIGATION MONITORING PROGRAM As required by Public Resources Code section 21081.6, the City of Chula Vista, in adopting these findings, also adopts a mitigation monitoring and reporting program as prepared by the environmental consultant under the direction of the City. The program is designed to ensure, that during Project implementation, the Applicant and any other responsible parties comply with the feasible mitigation measures identified below. The program is described in the document entitled "Otay Ranch General Development Plan Mitigation Monitoring Program." VIII. DIRECT SIGNIFICANT EFFECTS AND MITIGATION MEASURES The Final Program EIR identified a number of direct significant environmental effects (or "impacts") that the Project will cause; some can be fully avoided through the adoption of feasible mitigation measures, while others can not be avoided. The Project will result in the following significant irreversible environmental changes: Land Use, Landform/Visual Quality, Biology, Archaeology/Paleontology, Geology/Soils, Hydrology, Water Quality, Transportation/Access, Air Quality, Noise, and Public Services and Utilities. These significant environmental changes or impacts are discussed in both the Draft EIR 90-01, at pages 3-1 through 3.16-8, and the Final Program EIR, at pages 3.1-1 . through 3.16-6. Page 9 Land Use, Planning, and Zoning Potential incompatibility with existing adjacent land uses, including Otay Landfill, EastLake, San Diego Air Sports Center, and two quarries. [FPEIR, Volume 2, p 4.9.2-1 ] Potential incompatibility with internal Project land uses including residential, commercial, and industrial uses. [FPEIR, Volume 2, p. 4.9.2-1] Inconsistency with policies of Jamul-Dulzura Subregional Plan by extending Current Urban Development Area (CUDA) adjacent to Jamul and City of Chula Vista policies and goals for the Eastern Territories. [FPEIR, Volume 2, p. 4.9.2-1] Conversion of the site's overall character from undeveloped open space to developed land. [FPEIR, Volume 2, p. 4.9.2-1] Landform Alteration/Aesthetics [FPEIR, Volume 2, p. 4.9.3-1] Alteration of significant or sensitive landforms. [FPEIR, Volume 2, p. 4.9.3-1] Change in overall visual character of the Project area. [FPEIR, Volume 2, p. 4.9.3-1] Development in highly visible areas. [FPEIR, Volume 2, p. 4.9.3-1] Biological Resources Sensitive uplands, including coastal sage scrub, wetlands, and vernal pool habitat would be impacted. [FPEIR, Volume 2, p. 4.9.4-1 through 4.9.4-3] State-listed endangered plant species would be impacted. [FPEIR, Volume 2, p. 4.9.4-4 ] Second, third, and fourth priority sensitive plant species would be impacted. [FPEIR, Volume 2, p. 4.9.4-4 through 4.9.4-5] Least Bell's vireo, cactus wren, tricolored blackbird, and California gnatcatcher points of occurrence would be impacted and the habitat for southwestern willow flycatcher would be impacted. [FPEIR, Volume 2, p. 4.9.4-5 through 4.9.4-6 and p. 4.9.4-18 through 4.9.4-21] Riverside fairy shrimp and San Diego vernal pool fairy shrimp habitat would be impacted. [FPEIR, Volume 2, p. 4.9.4-18 through 4.9.4-21] Page 10 Harbison's dun skipper, Hermes copper, Thorne's hairstreak, and Quino checkerspot habitat would be impacted. [FPEIR, Volume 2, p. 4.9.4-18 through 4.9.4-21] California red-legged frog and southwestern pond turtle habitat would be impacted. [FPEIR, Volume 2, p. 4.9.4-6 and p. 4.9.4-18 through 4.9.4-21] Fifty (50) other sensitive species may be impacted. [FPEIR, Volume 2, p. 4.9.4-5 through 4.9.4-7] Regional raptor-foraging areas would be impacted. [FPEIR, Volume 2, p. 3.3-48 through 3.3-51] Regional wildlife corridors would be impacted. [FPEIR, Volume 2, p. 4.9.4-8 through 4.9.4-9] Cultural Resources Disturbance of significant prehistoric and historic resources. [FPEIR, Volume 2, p. 4.9.5-8 through 4.9.5-9] Geology and Soils Geology impacts include: slope instability, development proposed on metavolcanic bedrock, and seismic hazards. Soils impacts include expansive soils, erosion, and liquefaction. [FPEIR, Volume 2, p. 4.9.6-1] Paleontology Disturbance of significant paleontological resources. [FPEIR, Volume 2, p. 4.9.7-1] Agricultural Resources Conversion of prime farmlands and elimination of existing crop production. [FPEIR, Volume 2, p. 4.9.8-1 through p. 4.9.8-2] Inconsistency with existing County of San Diego and City of Chula Vista plans and policies. [FPEIR, Volume 2, p. 4.9.8-3] Land use interface impacts associated With agricultural activities and urban uses. [FPEIR, Volume 2, p. 4.9.8-2] Mineral Resources Page 11 Potential loss of mineral resources of economic value due to development or land use conflict. [FPEIR, Volume 2, p. 4.9.9-1] Water Resources and Water Quality Increases in surface water runoff due to increase in impervious surfaces could increase potential for downstream flooding, cause potential safety impacts, and increase erosion and siltation. [FPEIR, Volume 2, p. 4.9.10-1] Development may encroach into the 100-year floodplain. [FPEIR, Volume 2, p. 4.9.10-1] Potential increase in contaminant concentrations in Lower Otay Lake due to conversion of undeveloped land to urban uses. [FPEIR, Volume 2, p. 4.9.10-1] Page 12 Transportation, Circulation, and Access Impacts to the road network in the South Bay area will occur if SR-125 is not constructed. [FPEIR, Volume 2, p. 4.9.11-1 and p. 4.9.11-4] Impacts to road segments and intersections due to increase in traffic associated with Otay Raf!ch. [FPEIR, Volume 2, p. 4.11-1 through p. 4.9.11-13] Air Quality Air quality impacts would exceed the current State Implementation Plan (SIP) air quality attainment regulations which were based on SANDAG Series 7 growth projections. [FPEIR, Volume 2, p. 4.9.12-1] Project emissions of NOx, reactive organic gases (ROG), CO and PM-I0 from vehicular and stationary sources would add to existing violations of federal and state ozone standards. [FPEIR, Volume 2, p. 4.9.12-1] Short-term emissions would occur during Project construction. [FPEIR, Volume 2, p.4.9.12-1] Noise Noise levels in many areas of the Project would exceed the 60dBA CNEL standard. [FPEIR, Volume 2, p. 4.9.13-1 through 4.9.3-3] Indirect roadway and construction impacts on Least Bell's Vireo and California Gnatcatcher habitat. [FPEIR, Volume 2, p. 4.9.13-1] Public Services and Utilities Water Availability and Supply; Project-generated water requirements would impact the capability of local jurisdictions to provide water. [FPEIR, Volume 2, p. 4.9.14-1] Wastewater and Sewer Service: Facilities to accommodate additional sewage flow and wastewater treatment would be required. [FPEIR, Volume 2, p. 4.9.14-2] Integrated Waste Management: Project-generated solid waste would impact the landfill capacity in the region. [FPEIR, Volume 2, p. 4.9.14-3] . Police and Fire Protection. Emergency Medical Services: The Otay Ranch population would result in the need for additional staff and facilities to provide these services. [FPEIR, Volume 2, p. 4.9.14-3 through p. 4.9.14-4] Page 13 Schools: The Otay Ranch student population would generate the need for additional schools. [FPEIR' Volume 2, p. 4.9.14-4 to 4.9.14-5] LibraI)' Service: Additional library facilities would be required to serve the Otay Ranch population. [FPEIR, Volume 2, p. 4.9.14-5] Parks. Recreation. and Open Space: Otay Ranch would generate additional demand 'or regional and local parkland, open space, and recreational facilities. [FPEIR, Volume 2, p. 4.9.14-5 through p. 4.9.14-6] Electrici(y and Gas: Additional substations and associated distribution lines would be required to service the Project. [FPEIR, Volume 2, p. 4.9.14-6] Health and Medical Services Facilities: Otay Ranch would generate the need for additional health and medical, and senior and social service facilities. [FPEIR, Volume 2, p. 4.9.14-7 through p. 4.9.14-8] Other Public Services: Otay Ranch would generate the need for additional child care and animal control facility space. [FPEIR, Volume 2, p. 4.9.14-8 through p. 4.9.14-9] Risk of Upset Increase in urbanization would result in an increase in the use, transport, storage, and disposal of hazardous materials and an associated increase in the risk of an upset condition in the area. [FPEIR, Volume 2, p. 4.9.15-1] Certain of the above impacts cannot be substantially lessened or avoided at the General Development Plan level; but, as described in the Statement of Overriding Considerations, the City Council has determined that the impacts are acceptable because of specific overriding considerations. The following sub-sections describe specific impacts, setting forth either the reasons why they are significant and unavoidable, the mitigation measures adopted to substantially lessen or avoid them, or the reasons why proposed mitigation measures proved to be infeasible due to specific economic, social or other considerations. . . . A. LAND USE. PLANNING. AND ZONING Significant Effect: Potential incompatibility with existing adjacent land uses, including Otay Landfill, EastLake, San Diego Air Sports Center, and three quarries. [FPEIR, Volume 2, p. 4.9.2-1] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will Page 14 substantially lessen the significant environmental effect as identified in the Final Program EIR, however, not to a level below significance. As described in the statement of overriding considerations, however, the City Council has determined that this impact is acceptable because of specific overriding considerations. Mitigation Measures: The following mitigation measures are feasible and are required as a condition of approval and are made binding on the Applicant through these Findings. These measures are required at the GDP /Subregional Plan level and will be implemented at the SPA plan level. [FPEIR, Volume 2, p. 4.9.2-1 through 4.9.2-2] The SPA plans developed for the areas of the Otay River parcel adjacent to East Lake, industrially designated lands in the City of Chula Vista, the Otay Landfill, the Nelson and Sloan quarry site, the Rock Mountain quarry and the Daley quarry shall contain landscaping, grading, and buffering standards (including any standards contained in Sections 3.13,3.14, and 3.16 of the Final Program EIR) designed to prevent land use interface impacts such as health hazards, noise, lighting, and loss of privacy between Otay Ranch and these adjacent land uses. The SPA plan shall be reviewed by the city or county planning department that has jurisdiction over these areas to ensure that standards avoid significant interface impacts from occurring. In the event that these standards are not ensured, then, in the case of the Otay Landfill, which is scheduled to close in 1999, mitigation would require phasing the development of adjacent residences so that this part of the parcel is not developed until after the landfill has been closed. . The Project plans shall be submitted to the Federal Aviation Administration (FAA) for review as soon as possible to determine whether or not land use incompatibilities exist between the Project and the existing San Diego Air Sports Center. If it is determined by the FAA that such incompatibilities exist, then the SPA plan shall be designed to fully comply with the FAA. The Project Applicant shall then revise the Project's phasing plan to allow for use of the sports center until its option expires. . Development proposed adjacent to the Daley quarry, the Nelson and Sloan quarry and the Rock Mountain quarry in the San Ysidro parcel shall occur in accordance with the following mitigation measures: Residential development within 9300 feet of the quarries shall be staged such that construction shall not take place unless the quarries have been mined-out and mining operations have ceased or noise impacts can be mitigated as demonstrated in the site-specific noise study to an exterior noise level of 60 CNEL or below and an interior noise level of 45 CNEL or below for residences. Page 15 A site-specific noise study shall be required to determine the specific noise impacts and measures necessary to achieve an exterior noise level of 60 CNEL or below and an interior noise level of 45 CNEL or below. The study shall be prepared by a qualified acoustician in accordance with local noise standards. The mitigation measures outlined above shall be included in the applicable SPA (an for this area of the Project. . . . Significant Effect: Potential incompatibility with internal Project land uses including residential, commercial, and industrial uses. [FPEIR, Volume 2, p. 4.9.2-1] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid or substantially lessen the significant environmental effect as identified in the Final Program EIR as related to the incompatibilities of internal land uses and the majority of immediately adjacent external land uses. Land use interface impacts on the Jamul Country Town, Proctor Valley development, and along the northern and southern shores of Lower Otay Lake are unavoidable and remain significant after implementation of the following mitigation measures. [FPEIR, Volume 2, p. 4.9.2-2] Pursuant to 15091 (a)(3) as described in the Statement of Overriding Considerations, however, the City Council has determined that these impacts are acceptable because of specific overriding considerations. All other impacts related to potential incompatibility with internal project land uses are, with the implementation of the following mitigation measures, avoided or reduced to below a level of significance. Mitigation Measures: The following mitigation measures are feasible and are required as a condition of approval and are made binding on the Applicant through these findings. These mitigation measures are required at the GDP /Subregional Plan level and will be implemented at the SPA plan level. [FPEIR, Volume 2, p. 4.9.2-1 through 4.9.2-2] . The SPA plans developed for the above mentioned areas of the Project site shall contain policy language that explicitly sets forth standards for landscaping, grading, and buffering to prevent land use interface impacts such as noise, lighting, and loss of privacy from occurring between adjacent internal land uses, especially between single-family and multifamily residential land uses and between residential and non-residential land uses. Lots contiguous to Jamul in the Proctor Valley parcel may not be smaller than one acre in size. All SPA plans shall be reviewed by the city or county planning department that has jurisdiction over the area in which the proposed SPA Page 16 plan is located to ensure that proposed standards are adequate to prevent significant interface impacts from occurring. . Buffer and/or transition techniques should be developed which deal with the transition between different "villages" within and outside of the Project are included in the land use policies of the Project's GDP. . If the existing FAA VORTAC facility is not relocated, the Subregional Plan map shall be revised to indicate this existing land use. In addition, the SPA plan developed for this area shall set forth standards for landscaping, grading, and buffering guidelines to prevent land use interface impacts. The SPA plan shall be reviewed by the city or county planning department that has jurisdiction over this area to ensure that proposed guidelines are adequate to prevent significant interface impacts from occurring. The Applicant shall implement the development criteria in the RMP to protect resources located outside the management preserve. . . . Significant Effect: Inconsistency with policies of Jamul-Dulzura Subregional Plan (by extending Current Urban Development Area (CUDA) into Proctor Valley), City of Chula Vista policies and goals for the Eastern Territories. [FPEIR, Volume 2, p. 4.9.2-1] Finding: Implementation of the Project would result in significant land use impacts due to inconsistencies with County of San Diego policies and goals to retain the rural atmosphere of existing rural lands, with Jamul's Country Town land use designation, and with City of Chula Vista policies and goals to develop the Eastern Territories primarily with low-medium densities of residential development. No mitigation other than to decrease the density of the Project in the Jamul area of the county, leave the Regional Land Use designations as they are now, and to decrease density of the Project in the Eastern Territories of the City of Chula Vista is available to mitigate these Project inconsistencies. Therefore, this impact remains significant. [FPEIR, Volume 2, p. 4.9.2-2] Pursuant to section 15091 (a) (3) of the State CEQA Guidelines, there are no feasible mitigation measures which would mitigate the impact. As described in the Statement of Overriding Considerations, however, the City Council has determined that this impact is acceptable because of specific overriding considerations. . . . Significant Effect: Conversion of the site's character from undeveloped open space to developed land. [FPEIR, Volume 2, p. 4.9.2-1] Page 17 Finding: The Project would change the eXlstmg character of the site from undeveloped or underdeveloped open space to developed land. This change is significantly adverse for the areas in or adjacent to Jamul, Proctor Valley, Lower Otay Lake, and the San Ysidro Mountains and is unmitigable. Therefore, this impact remains significant. [FPEIR, Volume 2, p. 4.9.2-2] Pursuant to Section 15091 (a) (3) of the State CEQA Guidelines, there are no feasible mitigation measures which would mitigate the impact. As described in the Sta' .~ment of Overriding Considerations, however, the City Council has determined that this impact is acceptable because of specific overriding considerations. B. LANDFORM ALTERATION/AESTHETICS Significant Effect: Change in overall visual character of the Project area. [FPEIR, Volume 2, p. 4.9.3-1] Finding: No measures are available to mitigate the loss of open space and unavoidable alteration in visual character of the site. The proposed GDP /Subregional Plan provides for a large amount of open space; however, the overall character of the site would become one of developed land. Measures intended to reduce the specific potential visual impacts of the development are contained in the following sections. However, their implementation would not reduce this unmitigable effect of the GDP /Subregional Plan implementation to below a level of significance. [FPEIR, Volume 2, p. 4.9.3-1 through 4.9.3-2] Pursuant to Section 15091 (a) (3) of the State CEQA Guidelines, there are no feasible measures which would mitigate the impact. As described in the Statement of Overriding Considerations, however, the City Council has determined that this impact is acceptable because of specific overriding considerations. . . . Significant Effect: Alteration of significant or sensitive landforms. [FPEIR, Volume 2, p. 4.9.3-1] Findings: Pursuant to 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will substantially lessen the significant environmental effect as identified in the Final Program EIR. After the implementation of the mitigation measures, the alteration of significant or sensitive landforms (i.e., steep slopes, Lower Otay Lake area and Otay River Valley) would remain a significant impact of the Project. [FPEIR, Volume 2, p. 4.9.3-1 through 4.9.3-2] Pursuant to Section 15091 (a) (3) there are no other feasible measures that would mitigate the impact below a level of significance. As described in the Statement of Overriding Considerations, however, the City Council has Page 18 determined that this significant impacts are acceptable because of specific overriding considerations. Mitigation Measures: The following mitigation measures are feasible and are required as conditions of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.3-1] The GDP /Subregional Plan developed for the Otay Ranch Project contains specific landform alteration standards that provide stringent protection of sensitive landforms. The Applicant shall implement, at a minimum, the following mitigation measures: Roadways shall be designed to follow the natural contours of hillsides and minimize visibility of road cuts and manufactured slopes. Excessive use of manufactured slopes in the Otay River Valley, Jamul and San Ysidro Mountains, and the area around Otay Lakes shall not be permitted. Natural buffering (e.g., undeveloped open space) shall be provided between development and significant landforms, including the Jamul and San Y sidro Mountains. Variable slope ratios not exceeding 2:1 shall be utilized when developing grading plans. Eighty-three percent of the steep slopes (steeper than 25%) shall be preserved. The GDP /Subregional Plan contains standards regarding the amount and kind of grading allowable in the Otay River Valley to remediate mining disturbance. . All grading plans submitted for the Otay Ranch property will be prepared by a certified engineer and evaluated by the planning and engineering departments of the appropriate jurisdiction. Development shall be constructed in accordance with those plans as well as the grading policies of the GDP /Subregional Plan. . The following mitigation measures are rejected as infeasible: No disturbance of steep slopes (over 25 percent) shall be allowed; the disruption of rock outcrops (particularly on the San Ysidro parcel) and the filling of canyons shall be avoided. Page 19 The GDP /Subregional Plan shall contain language that provides adequate protection to meet the goals of the County Resource Protection Ordinance No. 7631, and the existing City of Chula Vista and City of San Diego Grading Ordinances, all of which regulate or restrict the grading that can occur on slopes with gradients steeper than 25 percent and a minimum rise of 50 feet. Encroachment into natural slopes shall not be permitted. Limit grading and development to below the top of major ridge lines to maintain natural terrain lines. Rationale: Avoidance of development of all steep slopes and ridgelines is infeasible. It would result in circuitous, elongated roads and utility systems serving isolated and fragmented pockets of development. This approach is inconsistent with project goals of creating pedestrian-friendly communities where homes are clustered near village cores and people are encouraged to walk. This fragmented development would not permit concentrated development that supports transit ridership. Further, this approach, by fragmenting development, would increase the amount of "edge effect" between natural habitat and areas of homes. While the Otay Ranch development is sited in areas containing some sensitive environmental habitat and slope constraints, it generally avoids large areas of steep slopes and significant environmental constraints. The current plant only impacts 17 percent of slopes over 25 percent, within the range of the County of San Diego's Resource Protection Ordinance. . . . Significant Effect: Development in highly visible areas. [FPEIR, Volume 2, p. 4.9.3-1] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will substantially lessen the significant environmental effects as identified in the Final Program EIR. After the implementation of the mitigation measures, however, the following impacts would remain significant impacts of the Project: . An unavoidable adverse change in the existing visual character of the Project site. . Alteration in areas of sensitive landforms (Le., steep slopes, Lower Otay Lakes area and Otay River Valley). . Grading of steep slopes that may be visible from future development and roadways. Page 20 Realignment of the scenic roadway of Otay Lakes Road. Development of the resort on the Proctor Valley parcel. Pursuant to Section 15091 (a) (3) of the State Guidelines, there are no other measures that would mitigate the impact below a level of significance. As described in the Statement of Overriding Considerations, however, the City Council has determined that this significant effect is acceptable because of specific overriding considerations. Mitigation Measures: The following mitigation measures are found to be feasible and are required as a condition of approval and are made binding on the Applicant through these Findings. . The GDP/SRP contains a requirement that at the SPA level, after the receipt of more specific development plans, specific mitigation measures to reduce grading and visual resource impacts of the resort, residential, commercial, industrial, and public/civic land uses and the associated roadways must be developed. Future analysis shall include either engineering cross-sections depicting existing and proposed topography or photo documentation illustrating proposed topographic and design features. Any cut and fill slopes in excess of 15 feet in height shall be identified. Special attention shall be placed on grading and design of the following, highly visible, features of the Project: Size, location, and setbacks of the resort building above Lower Otay Lake. Grading and development of residential areas within the San Ysidro parcel in the higher elevations in the vicinity of Lower Otay Lake. Height and length of manufactured slopes along Telegraph Canyon Road, Otay Lakes Road, Proctor Valley Road, and Otay Valley Road. Development and grading along major ridgelines, such as within the San Ysidro and Jamul mountain areas, and adjacent to all natural open space areas. Setbacks and building heights of industrial development south of the Otay River Valley. Location and visibility of new public trails through open space in proximity to existing and future development. Page 21 Placement of clustered development or stepped (split-level) building pads in hillside regions, if possible, to minimize landscape disturbance and retain ridgelines. The GDP /SRP contains binding design guidelines that will pertain to future streetscapes, buildings, and villages to enhance the visual appeal of development and prevent contrasts in site character. The design guidelines shall include the following: View corridors shall be integrated at the terminus or periodically along the length of streets paralleling or intersecting undeveloped open space. Walls, including acoustical barriers, shall be integrated into the architectural theme and scale of the villages. Landscape themes shall be used to define village character and blend with adjacent existing development. Natural and native plantings shall be integrated into revegetation plans for manufactured slopes adjacent to open space areas. Scale and architectural treatments (Le., rooflines, building materials) of all residential and non-residential village buildings shall be diverse and yet compatible. Signage shall be controlled and designed to fit in the pedestrian environment. Buffer techniques shall be developed to address transitions between villages and incompatible land uses to minimize visual impacts. Architectural colors for development adjacent to open space areas shall incorporate natural tones and shades. Overhead and night lighting shall be developed in accordance with the County's Dark Sky ordinance in the Proctor Valley and San Ysidro parcels. Street fixtures shall utilize low glare bulbs (Le., amber light) and be placed, only as necessary, near key intersections for security purposes in accordance with the county policy. . SPA plans and all implementing documents shall require design review for all building and site plans to ensure compatible architectural styles, building Page 22 materials, building proportions, landscaping, streetscape, and signage throughout each village. . To mitigate impacts on visual resources associated with the resort, to be located on the mesa north of Lower Otay Lake, and all other development surrounding the eastern and southern sides of the lake, site plan and building schematics shall be reviewed by the appropriate jurisdiction to ensure the following measures are incorporated into the design: Buildings shall be visually compatible in terms of height, scale, and bulk and shall be set back from the edge of the mesa and composed of low-rise structures, no more than three stories in height with an occasional four story building. Contour grading shall be used to transition graded slopes into the natural topography of surrounding hillsides. Manufactured slopes shall be revegetated upon completion of grading activities. Color schemes shall be limited to natural colors that blend with the existing environment and surrounding hillsides. Buildings shall maximize the use of non-reflective/non-glare surfaces. To mitigate potential visual impacts as a result of the university site, the following design guidelines shall be required of a private university and strongly encouraged to be followed by a public university. (Because development of a public university is within the jurisdiction of another agency, these guidelines cannot be mandated.): Building heights must be gradually reduced toward the Lower Otay Lake shoreline. Setbacks must be incorporated into the site plans to prevent the university from dominating the views to the lake. Non reflective/non-glare building material must be integrated into the building whenever possible. Design must be compatible with the architectural, landscape and building treatments of the Olympic Training Center and other adjacent developments. Page 23 Clustering of buildings is required. . To mitigate visual and policy impacts from the realignment of Otay Lakes Road, a scenic roadway, a visual resources evaluation shall be conducted by the Applicant once the actual roadway alignment and surrounding development have been determined to identify key view corridors that would be available to travelers. Significant views of Lower Otay Lake and the San Ysidro foothills and mountains shall be preserved by a combination of the following measures: Heights of buildings adjacent to the southern edge of the roadway shall be limited to heights which enable views of the lake and surrounding hillsides, or site planning adjacent to the southern edge of the roadway shall enable view corridors of the lake and surrounding hillsides. Viewing areas shall be established along the roadway corridor to allow travelers to stop and enjoy the view above the lake. The abandoned alignment shall be rehabilitated and open for pedestrian and bicycle viewing access. Rest areas and vistas shall be incorporated into the rehabilitated walkway or promenade. C. BIOLOGICAL RESOURCES As part of the Project the City is adopting a Resource Management Plan (RMP) that defines minimum standards of biological preservation for project development. These standards are also reflected in the findings as standards that the Project will achieve. However, during the environmental review process required at the SPA level, "effects upon the environment which are peculiar to the parcel or to the project and which were not addressed as significant effects in the prior environmental impact report, or which substantial new information shows will be more significant than described in the prior environmental impact report" shall be examined. (Pub Resources Code section 21083.3) Feasible mitigation measures for effects that are "peculiar to the site" or for any other reason defined by the statute shall be required pursuant to CEQA. Therefore, it should be recognized that the standards set forth herein are minimum standards subject to increase after completion of more precise surveys, identification of new information, change of species status and/or other factors. Significant Effect: Sensitive uplands (including coastal sage scrub), wetlands, and vernal pool habitat would be impacted. [FPEIR, Volume 2, p. 4.9.4-1 through 4.9.4- 4] Page 24 Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations have been required in, or incorporated into, the Project which will substantially lessen the significant environmental effects as identified in the Final Program EIR. Pursuant to Section 15091 (a) (3) of the State CEQA Guidelines, there are no feasible measures at this level of planning to mitigate impacts below a level of significance for impacts to Diegan Coastal Sage Scrub, Maritime Succulent Scrub, Non Native Grasslands, Valley Needlegrass Grassland, Alkali Meadow and Vernal Pools. As described in the Statement of Overriding Considerations, however, the City Council has determined that this significant impact is acceptable because of specific overriding considerations. Impacts to Woodlands, Floodplains Scrub, Southern Willow Scrub, and Aquatic Freshwater Marsh, are mitigated to a level below significance. Mitigation Measures: The following mitigation measures are feasible and are required as a condition of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.4-8 through 4.9.4-14 and Table 4.2.4-8] Diegan Coastal Sage Scrub (CSS) The project is designed to preserve 70 percent of the coastal sage scrub onsite including significant portions of CSS in the key areas identified below: Salt Creek Poggi and Wolf canyons Rock Mountain and existing CSS on north side of Otay River Valley Patches of CSS south of Lower Otay Lake and the San Diego Air Sports Center . 1,300 acres of identified high priority CSS areas on the Project site shall be restored (see Figure 3.3-8 in the FPEIR). This restoration shall include a minimum of 56 acres of maritime succulent scrub. Coastal sage scrub restoration activities shall commence prior to or concurrent with approval of the first SPA/Specific Plan within Otay Ranch and shall have achieved success, based on performance standards described below and in future detailed restoration plans, prior to or concurrent with any Project approval for development resulting in significant impacts to coastal sage scrub habitat occupied by California gnatcatchers. The success of a specific coastal sage scrub restoration effort wiil be measured by its ability to replace the habitat values lost, and directly by its ability to Page 25 support native plant and wildlife species typical of coastal sage scrub. The following are success criteria that shall be achieved: The shrub layer within each revegetated patch will consist of at least four site-typical native shrub species found on Table 3 (p. 142 of the RMP), and the herb layer will consist of at least four native grass or herb species. The percent cover composition of the shrub and herb layers will be determined by qualitative analysis of a target patch of vegetation. The target patch may be a different sub-type of coastal sage scrub than that being disturbed; the availability of the mitigation site will determine which sub-type is most appropriate for restoration. Factors as described hrein regarding current habitat quality of the to-be-disturbed site will be measured, including total species number, number and prevalence of exotic species, and shrub and herb density. Additionally, factors contained in Chapter 4, specifically Table 4 of the RMP, shall be achieved. Wildlife use will be measured using birds. In a patch greater than 25 acres, there will be use by at least five scrub-requiring bird species from the following list of resident species: Bewick's wren Cactus wren California gnatcatcher California quail California thrasher California towhee Rufous-crowned sparrow Rufous-sided towhee Sage sparrow Scrub jay Wrentit . Potential indirect impacts shall be mitigated by providing a minimum 100-foot buffer area around all preserved coastal sage scrub. No development, landscaping or in wholesale clearing for fire management shall be allowed within the buffer area. Selective. thinning for fire management shall be allowed within the buffer. Maritime Succulent Scrub (MSS) Page 26 The project is designed to preserve 80 percent of the maritime succulent scrub onsite. Disjunctive stands shall be protected, especially where they support cactus thickets and can logically be tied to a larger open space network. . A minimum of 56 acres of maritime succulent shall be restored in conjunction with the CSS restoration of 1,300 acres. Floodplain Scrub. Southern Willow Scrub. and Aquatic/Freshwater Marsh . The project is designed to retain 95 percent of the floodplain scrub, southern willow scrub, and aquatic/freshwater marsh habitats. Restoration/enhancement of disturbed wetland habitat shall occur in the Otay River Valley within tamarisk/mulefat scrub habitat (See Figure 3.3-8 in the FPEIR) to mitigate the remaining impacts. . Impacts shall be substantially lessened through placement and design features (i.e., road location and infrastructure design) and the application of ratios as defined by the appropriate public agencies. Development shall not occur until compensation has been approved by the California Fish and Game through the Streambed Alteration Agreement and/or the Corps of Engineers 404 permit process, as required in accordance with their no net loss standard. Non-native Grassland (NNG) . The provision of a large open space system with open habitats and native grasslands will substantially lessen this impact; however, not to a level below significance. Valley Needlegrass Grassland/Perennial Grassland (PG) . The project is designed to preserve 25 percent of the valley needlegrass grassland. . High priority areas for preservation and restoration shall include the disturbed perennial grassland contiguous within the K6 vernal pool complex and large San Diego thorn-mint population north of Lower Otay Lake, and in selected areas in the Otay River parcel to be determined by subsequent field transect studies. . A ratio of between 1:1 and 3:1 (restored to impacted habitat) shall be required. Page 27 Alkali Meadow The project is designed to preserve 72 percent of alkali meadow. . Impacts shall be substantially lessened through placement and design features (i.e., road location and infrastructure design) and application of a ratio as defined by the appropriate public agency, however, no less than 1:1 based on habitat type and quality and whether pre-establish._lent of in-kind habitat has occurred. Development shall not occur until compensation has been approved by the California Fish and Game through the Streambed Alteration Agreement and/or the Corps of Engineers 404 permit process, as required in accordance with their no net loss statement. . Potential indirect impacts shall be mitigated by providing a minimum 100-foot width buffer area for all alkali meadow habitat. No development or landscaping shall be allowed within the buffer areas. Impacts to alkali meadow from hydrological alterations (including potential displacement of native habitat with exotic and wetland species) shall be mitigated as described herein. The water runoff from surrounding development shall be diverted and controlled to retain the same amount and seasonality of water input existing before development. A study shall be required at the SPA level of analysis to determine existing hydrological conditions of streams containing alkali meadow and what hydrological changes will occur to these streams after development. The results of these studies shall be used to engineer the storm drain system to achieve pre-impact hydrological conditions. Vernal Pools . The Project is designed to preserve 95 percent of large or high value vernal pool complexes and preservation of 95 percent of all other vernal pools. The vernal pool complexes on Otay Ranch that are large or of high value and which require 100 percent preservation include J23-24, J25 on Otay Mesa and 130; Kl and Kl5+ in Otay River Valley; and R3 in Proctor Valley. K6, K8 and Kl2 are in a special study area to determine whether they should be preserved. The Project is designed to preserve that portion of vernal pool J29 containing sensitive species, including a minimum lOO-foot width buffer. The allowed 5 percent impact to any of the lower quality vernal pool complexes shall be mitigated by restoration/enhancement of damaged vernal pool habitat within disturbed areas of the preserved vernal pool complexes so that no net loss of vernal pool habitat value or area occurs. Mitigation shall be consistent with the requirements of Section 404 of the Clean Water Act. Page 28 Restoration shall include decompacrlon, sculpting and recontouring, and seeding of basins disturbed by dirt roads, trails, or scraped areas. Vernal pools shall also be enhanced through removal of exotic plant species. Reintroduction of declining vernal pool species to suitable areas for recolonization shall also be required. Impacts to vernal pool habitat shall occur only after successful completion of the restoration program. Vernal pool restoration shall achieve the following: Restore the biota of individual, badly degraded vernal pools; Increase diversity and frequency of native biota in all disturbed vernal pools; Preserve and enhance vernal pools on K-6 where little mouse tail occurs; Reduce the effect of alien plants; Enhance the populations of sensitive species; Stabilize soils on mounds and in watershed areas; Provide research and educational opportunities. . Potential indirect impacts shall be mitigated by providing a minimum 100-foot width buffer area around the vernal pools and their watershed. A larger buffer area and implementation of other measures e.g., fencing, educational signage, diversion of urban runoff, shall be required as necessary to eliminate adverse effects of drainage, trampling, vehicles, dumping, and collecting and to provide sufficient resources to support appropriate pollinators and dispersal agents. Woodlands (Coast Live Oak Woodland. Southern Live Oak Riparian Forest. Southern Interior Cypress Forest. and Sycamore Alluvial Woodland) The project is designed to preserve 100 percent of the southern interior cypress forest, coast live oak woodland, and southern live oak riparian forest and sycamore alluvial woodland. . Potential indirect impacts shall be mitigated by providing a minimum 100-foot width buffer area around the sensitive habitat, within which no development or landscaping shall be allowed. Impacts to these woodlands from hydrological alterations (including potential displacement of native woodland habitats with exotic and wetland species) shall be avoided. The storm drain Page 29 system shall be engineered to achieve the pre-impact hydrology for each of the woodland habitat types. The following mitigation measures are rejected as infeasible: . The project is designed to preserve 80 percent of the coastal sage scrub on site. All existing CSS in Wolf and Poggi canyons and Salt Creek shall be preserved. Rationale: The Project preserves 70 percent of the Diegan Coastal Sage Scrub (CSS) onsite rather than 80 percent, but also requires restoration of an additional 1,300 acres of CSS. Accordingly, the Project actually preserves and restores 85 percent of the CSS, a percentage that exceeds the proposed mitigation measure for preservation. The goal of the mitigation is, in short, met and, in fact, exceeded by combining preserved habitat with restored habitat. Adopting the proposed mitigation standard of 80 percent preservation is infeasible since it is effectively met by combined preservation/restoration standard as described above and would require preservation of an additional 1,300 acres of CSS within the Otay Ranch Project. This requirement would result in two negative impacts: (1) possible elimination of areas designated for low (L), low medium village (LMV) to medium high (MH) density development on the Otay River parcel, and (2) elimination of areas available for potential active recreation uses within the future Otay Valley Regional Park (FPEIR, Figure 3.3-8). Assuming a density range of 2-4 dwelling units per acre and elimination of 1,300 acres of development on the Otay River parcel, development potential on the Otay River parcel could be reduced by 2,200 up to 4,400 dwelling units. The area available for active park uses in the Otay River Valley could be reduced by 200 acres assuming 200 acres of additional Diegan coastal sage scrub restoration in the Otay River Valley. The reduction in development potential on the Otay River parcel associated with the additional preservation of Diegan coastal sage scrub would adversely affect the village concept incorporated in the land use plan for this parcel. The village concept has been determined to have significant benefits with respect to community design, reduced trip generating and encouragement of transit use. (See, Statement of Overriding Considerations.) Additionally, the reduction in potential area for active recreation uses in the Otay River Valley may adversely affect future plans for the Otay Valley Regional park. With regard to the area south and east of the lakes, the City Council determines that there is a need to balance housing types in the South County. To this end, the City Council is desirous of providing estate housing opportunities as reflected by the Project. The City Council further believes that the provision of a broad range of housing types help to attract business opportunities to a particular area. There is currently a vast amount of industrially zoned land in the City of San Diego on the Page 30 Otay Mesa. A broad range of proximate housing opporturnues will assist III achieving the jobs-housing balance sought in the City's General Plan. No clearing for fire management shall be allowed within the buffer (required for CSS). Rationale: For safety purposes (fire control) it is necessary to do some selective clearing. An absolute prohibition of clearing is infeasible because it does not address this safety issue. . Purchase of approximately 1,000 acres of coastal sage scrub offsite shall be required to provide long-term protection to mitigate the impacts remaining after avoiding 80 percent of onsite habitat and restoring the high priority areas. Offsite mitigation is necessary to reduce impacts to below a level of significance and, therefore, shall not be used in lieu of avoidance or onsite restoration. Offsite mitigation shall be purchased in areas identified by the Natural Communities Conservation Program (NCCP) and the Multiple Species Conservation Program (MSCP) (if adopted) as key areas for a South County biological preserve. . Restoration of approximately 1,500 acres of coastal sage scrub within identified high priority areas within Otay River parcel. Restoration of 1,300 acres of coastal sage scrub as described above, is found to be feasible mitigation; however, restoration of the remaining 200 acres is found to be infeasible. . Restoration shall be completed and shown to be successful prior to impacts to CSS of five or more acres. The restoration program shall consist of a four- year experimental phase and an eight-year phase for full-scale restoration and shall be initiated with the first SPA. Because the restoration must be successfully completed prior to impact to sensitive habitats, the first SPA shall be located within non-sensitive habitats. The experimental phase of the restoration program shall include a collection of biological data to refine the locations for restoration, to obtain baseline information on adjacent undisturbed habitats, and to develop the most effective restoration methodologies. The full-scale restoration shall include a one-to-three year period for site preparation (Le. weed removal and planting) and a five-year period for quantitative monitoring and assessment of restoration success. Horticultural monitoring and remedial maintenance shall be ongoing. The restoration must meet success criteria and be satisfactory to the appropriate jurisdiction before impact to the original sensitive habitat can occur. Rationale: The Diegan Coastal Sage Scrub mitigation measures requiring offsite purchase of habitat; requiring 1,500 acres of restoration rather than 1,300 acres as Page 31 the Project requires; requiring restoration and monitoring programs with four year experimental phases and eight year restoration phases prior to impacts to five acres of habitat; and requiring development reductions as described above, are rejected as infeasible for a number of reasons. Most significantly, all of these mitigation measures would significantly hamper implementation of the Resource Management Plan (RMP). Implementation of the RMP is dependent on funding from the first phases of development to acquire a Preserve Owner/Manager and implement RMP management, maintenance and restoration activities. Funds devoted to purchase of 1,000 acres of offsite habitat and implementation of a twelve year restoration program on 1,500 acres prior to impacts to five acres of CSS would not be available for RMP implementation activities. This is unreasonable given that (1) the Project already sets aside 11,375 acres, or 50 percent of the Project's total acreage, in managed open space preserve and, therefore, need not require an additional 1,000 acres of offsite mitigation nor an additional 200 acres of restoration, and (2) the RMP already establishes stringent criteria for demonstrating successful coastal sage scrub restoration efforts, but simply does not require an identified number of years to demonstrate success. Successful restoration efforts may require a longer or shorter period of time than set forth in the mitigation measure. It is the success of the program as measured by objective criteria that is critical, however, not the time frame. Reductions in approved developable areas would impair the ability of the Project to obtain density sufficient to justify and support the transit-oriented design of the land use plan and the concept of the "village" that underlies the land plan as discussed above. Requiring 1,500 acres of CSS restoration rather than 1,300 as is required by the Project, is infeasible in that an additional 200 acres of land is not available in the preserve that would be suitable for restoration. The EIR and RMP indicate that there is only a total of approximately 1,300 acres of degraded habitat available in the' preserve having the qualities needed to support successful restoration. Even if additional acreage could be identified it would most likely be located in the Otay River Valley and would, if used for restoration, preclude identification of up to 400 acres of active park land for the regional park as the Project requires. For these reasons, the recommended additional mitigation measures for Diegan Coastal Sage Scrub have been determined to be infeasible. . The Project is designed to preserve 98 percent of the maritime succulent scrub onsite. Rationale: With regard to maritime succulent scrub preservation, the Project already preserves 80 percent of the habitat on site. The additional increment of 50 acres required by this measure (FPEIR, Figure 3.3-8) would eliminate areas designated for residential development on the Otay River parcel. Consequently, assuming a density range of 6-10 dwelling units per acre, development potential on the Otay River parcel could be reduced by 100-200 dwelling units. This reduction in development Page 32 potential, particularly when coupled with the development potential reductions associated with additional preservation of the coastal sage scrub as described above, would adversely affect the village concept incorporated in the land use plan for the Otay River parcel. The cumulative effect of the additional coastal sage scrub and maritime succulent scrub mitigation measures relating to habitat preservation and restoration would also hamper implementation of the RMP as described previously. Maritime succulent scrub is located within an area that will be affected by Orange Avenue and Otay Valley Road. Those roadways have been determined to be necessary to the Project and are needed to obtain adequate levels of service. Although the Project, through the RMP, calls for sensitive design of these roadways, maritime succulent scrub may potentially be impacted. For these reasons, the recommended additional mitigation measures for maritime succulent scrub have been determined to be infeasible. . The Project is designed to preserve 98 percent of Alkali Meadow. The restoration of disturbed alkali meadow habitat in the Proctor Valley parcel shall be required to offset the remaining impact. Rationale: The Project already preserves 72 percent of the total Alkali Meadow habitat present on the Otay Ranch property. While much of the Alkali Meadow is present in narrow drainages on the Project site which are likely to be preserved, a broad Alkali Meadow drainage in the Proctor Valley area and Jamul Rural planning Area 16 creates a conflict both for the development of rural estates and, more particularly, the construction of Proctor Valley Road. Any relocation of Proctor Valley Road would encroach into developable areas, thus creating a need for more clustered development in Jamul Planning Area 16. As this is a transition village buffering the rural town of Jamul, any clustering in density in this village is deemed infeasible from a planning perspective in that it would create incompatible land uses adjacent to Jamul. . The Project is designed to preserve 50 percent of Valley Needlegrass on site. . For Valley Needlegrass, a mitigation program including a four-year experimental phase and an eight-year maintenance and monitoring program shall be required. Rationale: The Project already preserves 25 percent of the Valley Needle Grassland, with additional habitat included in a special study area, that might, ultimately, be preserved as well. If, after analysis, this special study area is preserved, the total preserved area would be approximately 36 percent of the habitat. The preservation of the additional acreage of Valley Needle Grassland contiguous to the K6 vernal pool area would adversely affect the ability to develop a resort in the southern portion of the Proctor Valley parcel as designated in the Project. The resort site Page 33 designated by the Project has been determined to be the most appropriate site for a resort on the Otay Ranch property due to its separation from other potentially incompatible land uses, its location near the Olympic Training Center, its panoramic views of the Otay lakes and its topography (Le., a mesa top elevated above the lake). Preservation of the Valley Needle Grass would result in a fragmented and significantly constrained site for the resort village rendering it infeasible from a planning perspective. With regard to the mitigation measure requiring a four year experimental phase of restoration and an eight year maintenance monitoring program, the RMP already includes stringent criteria for demonstrating successful restoration of this habitat. It simply does not require a certain number of years to measure that success. Successful restoration may take a shorter or longer period than called for by this mitigation measure, but must ultimately meet the success criteria regardless of the time frame. As such, a mitigation measure requiring a set number of years is rejected as infeasible. . 129 and 131 vernal pool complexes on Otay Mesa shall be preserved. Project redesign also is required to preserve all of the vernal pools in the 131 complex along the western edge of the proposed industrial development. M2 vernal pool complex south of Poggi Canyon in Village 2 shall be preserved. A park with protected natural open space to preserve this vernal pool complex shall be established. . Rl and R2 vernal pool complexes in Proctor Valley shall be preserved. Proposed development shall be pulled back at southwestern edge of Village 14 to preserve the Rl vernal pool complex and provide an adequate buffer to the R2 complex. The following vernal pools shall be preserved in their entirety: J29, 131, Rl, R2, M2, K6, K8, and K12. . . Vernal pool restoration/enhancement shall include a four-year experimental phase and an eight-year maintenance and monitoring period. . The allowed 2 percent impact to any of the lower quality vernal pool complexes shall be mitigated by restoration/enhancement of damaged vernal pool habitat within disturbed areas of the preserved vernal pool complexes such that no net loss of vernal pool habitat value or area occurs. . Impacts to vernal pools is designed to preserve 100 percent of large or high value vernal pool complexes and preservation of 98 percent of all other vernal pools. Page 34 Rationale: With regard to vernal pool mitigations, the proposed mitigation measures for the vernal pool complexes on the Otay Mesa are found to be infeasible as follows. While the Project does not preserve 100 percent of high quality pools and 98 percent of all other pools, it ~ preserve 95 percent of each, an incremental difference of 5 percent in the case of high quality pools and 3 percent in the case of all others. Much of this incremental difference is explained by the fact that the Project preserves the sensitive portions of the high quality pools such as 129, but impacts the non-sensitive portions. Preservation of the remaining 5 percent of the pools is deemed infeasible because (1) the preservation of the southern extent of J29 and 131 on Otay Mesa would significantly impair development of industrial uses on Otay Mesa as designated by the Project. Inclusion of industrial uses within the plan in this location has been considered to be compatible with other planned industrial development on Otay Mesa and desirable with respect to the overall job/housing balance desired for the Otay Ranch plan. Preservation of the southern extent of 131 and J29 would significantly impair achievement of this project objective in its most logical location (Le., adjacent to the City of San Diego's existing industrial zoning on the Otay Mesa); (2) the preservation of the M2 complex near Poggi Canyon would preclude construction of Paseo Ranchero in its assumed alignment. This north-south circulation road is of critical importance to the overall circulation system for the Project and the success of the village concept. As Paseo Ranchero impacts the M2 pool complex, preservation is infeasible; (3) the K6, K8 and K12 vernal pools have already been identified and placed by the Project in a special study area to determine what, if anything, can be planned in these areas. No development can occur in these areas pending future studies, but the Project has not technically committed to "preserve" them yet. Identifying these pools as being "preserved" at this stage would prematurely assume the conclusions of the future studies and would defeat the purpose of placing them in a special study area. In the event that future analysis determines that these pools need to be entirely or partially preserved, preservation will be assured at future SPA level of analysis; (4) the Rl and R2 vernal pools are directly impacted by residential development and the construction of Proctor Valley Road. The road and adjacent development have intentionally been located in the valley and the bench supporting R2 pools so as to follow the existing alignment of the road and minimize encroachment of development into steep slopes and more extensive, environmentally constrained areas elsewhere on the Proctor Valley parcel. The RMP includes stringent criteria to demonstrate successful vernal pool restoration and enhancement. Accordingly, the mitigation measure requiring a certain number of years for such a program is rejected as infeasible. Successful restoration may require a longer or shorter period of time than called for by the mitigation measure and success will be demonstrated by conformance with the criteria not by strict compliance with a specified number of years. With regard to the measure requiring restoration/enhancement of lower quality vernal pools such that no net loss of vernal pool habitat occurs, the mitigation Page 35 measure is hereby made a requirement of the Project with regard to the 5 percent impact to lower quality vernal pools. The incremental difference between the allowed 5 percent and the 2 percent cited in the mitigation measure is infeasible for the reasons cited above. . . . Significant Effect: State-listed endangered plant species would be impacted. [FPEIR, Volume 2, p. 4.9.4-4 - 4.9.4-5] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes alterations have been required in, or incorporated into, the Project which will substantially lessen, however, not to a level below significance, the significant environmental effects as identified in the Final Program EIR to the following species: San Diego button-celery. Pursuant to Section 15091 (a) (3) of the State CEQA Guidelines there are no feasible mitigation measures at this level of planning to mitigate impacts below a level of significance for the remainder of the above listed species. As described in the Statement of Overriding Considerations, however, the City Council has determined that this significant impact is acceptable because of specific overriding considerations. Impacts to thorn-mint, Otay tarplant, willowy monardella are mitigated to below a level of significance. Mitigation Measures: The following mitigation measures are feasible and are required as a condition of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.4-14 through 4.9.4-17 and Table 4.2.4-9] . Updated sensitive plant surveys shall be conducted to quantify acreage of occupied habitat and plant densities or population sizes for each SPA. . The project shall be designed to obtain the species-specific preservation standards defined below. . Indirect impacts to preserved populations of all sensitive plant species shall be avoided or minimized by implementing the following measures: Buffers (i.e., setbacks from developed, landscaped, or other use areas) shall be provided around the occupied and/or critical habitat (e.g., watershed for vernal pools, floodplain or drainage for willowy monardella) for all preserved populations. Buffers shall be of adequate size and configuration to eliminate adverse effects of trampling, vehicles, dumping, collecting, and adjacent construction, and, in conjunction with the preserved habitat, shall include sufficient resources to support appropriate pollinators. Buffer widths shall be a minimum of 50 feet. Buffer widths shall be determined on a species- Page 36 specific basis and will be dependent on the sensitivity of the species, the susceptibility/tolerance of the species and/or its habitat to disturbance, and the adjacent land use. For sensitive species occurring within seasonal streams, the water runoff from surrounding development shall be diverted and controlled to retain the same amount and seasonality of water input existing before development. A study to determine existing hydrological conditions and a hydrological analysis of the streams within the proposed development that contain sensitive plant species shall be required at the SPA level of analysis. The results of these studies shall be used to engineer the storm drain system to reflect pre-impact hydrological conditions over the long term. Species occurring in intermittent streams for which the above mitigation shall apply include willowy monardella, Otay manzanita, Orcutt's brodiaea, summer-holly, Tecate cypress, San Diego sagewort, Orcutt's bird-beak, San Diego marsh-elder, spiny rush, Campo clarkia, San Miguel savory, and Engelmann oak. A Fire Management Plan shall be developed in accordance with the RMP to protect and appropriately manage populations of sensitive plant species. San Diego Thorn-mint (Acanthomintha ilicifolia) . The project is designed to preserve the largest San Diego thorn-mint population and 95% of the overall species onsite, including watershed, any associated critical habitat and a minimum of a 100-foot width buffer zone. . A clay soil lens suitable for San Diego thorn-mint that is not presently occupied by this species shall be used for the mitigation area. If no such area is available as determined by a plant ecologist and a soil scientist during the experimental phase of the mitigation program, acquisition and long-term protection of an offsite population shall be required. San Diego Button-celery (Eryf!(:ium aristulatum var. CJarishii) . The project is designed to preserve 95 percent of species onsite and to preserve 100 percent of species where occurring with other vernal pool indicator species. Vernal pools shall be restored and the species shall be re-introduced into disturbed or historical vernal pools. Page 37 Otay Taq>lant (Hemizonia coniu~ens) The project is designed to preserve 80 percent of the species. . The species shall be introduced in areas with appropriate soils, including seed salvage and nursery propagation to increase seed sowing. Willo\\l)' Monardella . The project is designed to preserve 100 percent of the species on site. Water input shall be regulated to prevent significant indirect impacts from decreased or increased water flow from the development. . The intact population shall be monitored by 5 years to assure that indirect impacts (trampling, dumping and hydrological alterations) of the development do not jeopardize the intact population. Remedial measures (restoration, trash removal and fencing repair) must be implemented to assure preservation of the intact population. . . . Significant Effect: Second, third, and fourth priority plant species would be impacted. [FPEIR, Volume 2, p. 4.9.4-4 through 4.9.4-5] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations have been required in, or incorporated into, the Project which will avoid or substantially lessen the significant environmental effects as identified in the Final Program EIR. With the exception of the San Diego Goldenstar and Munz's sage, all impacts to second, third and fourth priority plant species are mitigated to a level below significance. With regard to San Diego Goldenstar and Munz's sage, implementation of the mitigation measures substantially lessen impacts, however, not to a level below significance. Pursuant to Section 15091 (a)(3) there are no other feasible measures that would mitigate the impact below a level of significance. As described in the Overriding Considerations, however, the City Council has determined that this significant impact is acceptable because of certain overriding considerations. Mitigation Measures: The following mitigation measures are feasible and are required as a condition of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.4-14 through 4.9.4-17 and Table 4.2.4-9] . Sensitive plant surveys shall be conducted to quantify acreage of occupied habitat and plant densities or population sizes for each SPA. Page 38 . The project is designed to achieve the following species-specific preservation standards. Indirect impacts shall be prevented through provision of buffers, manipulation of hydrological conditions, and a fire management plan. . Indirect impacts to preserved populations of all sensitive plant species shall be avoided or minimized by implementing the following measures: Buffers (i.e., setbacks from developed, landscaped, or other use areas) shall be provided around the occupied and/or critical habitat (e.g., watershed for vernal pools, floodplain or drainage for willowy monardella for all preserved populations. Buffers shall be of adequate size and configuration to eliminate adverse effects of trampling, vehicles, dumping, collecting, and adjacent construction, and, in conjunction with the preserved habitat, shall include sufficient resources to support appropriate pollinators. Buffer widths shall be a minimum of 50 feet for second, and third priority species and 25 feet for fourth priority species. Buffer widths shall be detemlined on a species-specific basis and will be dependent on the sensitivity of the species, the susceptibility/tolerance of the species and/or its habitat to disturbance, and the adjacent land use. For sensitive species occurring within seasonal streams, the water runoff from surrounding development shall be diverted and controlled to retain the same amount and seasonality of water input existing before development. A study to determine existing hydrological conditions and a hydrological analysis of the streams within the proposed development that contain sensitive plant species shall be required at the SPA level of analysis. Species occurring in intermittent streams for which the above mitigation would apply include willowy monardella, Otay manzanita, Orcutt's brodiaea, summer-holly, Tecate cypress, San Diego sagewort, Orcutt's bird-beak, San Diego marsh-elder, spiny rush, and Campo clarkia, San Miguel savory, and Engelmann oak. A Fire Management Plan shall be developed in accordance with the RMP to protect and appropriately manage populations of sensitive plant species. Page 39 Otay Manzanita (Arctostavhvlos otavensis) . The project is designed to preserve at least 80 percent of the species onsite, including populations in northern Jamul Mountains; . Impacted plants shall be propagated and re-established to suitable slopes. Orcutt's Brodiaea (Brodiaea orcuttii) . The project is designed to preserve 75 percent of the species onsite. . Water input shall be regulated to prevent significant indirect impacts from increased or decreased water flow from development; the buffer requirements and pre-impact hydrological studies and design of low-flow diversion system described above shall be implemented. . A five-year monitoring of intact population shall be required to: Identify significant indirect impacts of development (e.g., trampling, dumping, hydrological alterations); and Implement remedial measures (e.g., restoration, trash removal, repair fencing etc.). Variegated Hasseanthus (Dudl~a varie!{ata) . The project is designed to preserve 75 percent of the species onsite, including representative population(s) from each of the three parcels; and Impacted plants shall be transplanted to appropriate habitat and clay soils within same parcel. San Diego Coast Barrel Cactus (Ferocactus viridescens) . The project is designed to preserve 75 percent of the species onsite, including representative populations from each of the three parcels; and . ~mpacted plants shall be transplanted to appropriate habitat within same parcel. San Diego Goldenstar (Muilla clevelandii) Page 40 . The project is designed to preserve 54 percent of known point occurrences for the species onsite, including representative populations from each of the three parcels; and . Corms and soil shall be salvaged and species shall be introduced in appropriate soils and habitat in protected open space within the same parcel. San Diego Navarretia (Nava"etia fossalis) . The project is designed to preserve 100 percent of the presently known locations of the species and retaining all of the 129 pools complex with Navarretia. Snake Cholla (OtJuntia panyi var. sertJentina) . The project is designed to preserve 80 percent of the species on site; and Impacted plants shall be transplanted to restored coastal sage scrub in protected open space. Narrow-leaved Nightshade (Solanum tenuilobatum) . The project is designed to preserve 75 percent of the species on site; and . The species shall be re-established in disturbed areas with suitable soils or introduced in suitable open space. Delicate Clarkia (Clarida delicata) . The project is designed to preserve 75 percent of the species on site and to avoid all impacts to the population in the canyon in northeastern Jamul Mountains. Orcutt's Bird-beak (Cordvlanthus orcuttianus) . The project is designed to preserve 75 percent of the species on site and to avoid all impacts to population in the canyon south of the San Diego Air Sport Center. To avoid indirect impacts in the canyon south of the San Diego Air Sports Center all canyon slopes shall also be included in open space. San Diego Marsh-elder ([va hqyesiana) . The project is designed to retain 75 percent of the species on site; and Page 41 The species shall be revegetated at a 2:1 ratio in intermittent drainages that have been disturbed; . Container plants shall be propagated with seed collected from the Project site; . The species shall be included in restoration of alkali meadow habitat. Munz's Sage (Salvia munzii) The project is designed to preserve 46 percent of point occurrences on site for the species. Munz's sage-dominated coastal sage scrub shall be restored on the Project site at a 2:1 ratio using seed and container plants. Greene's Ground-chef!)' (Phvsalis l7eenei) . Additional survey work shall be conducted to verify presence of this species; and . If present, the project shall be designed to preserve at least 50 percent of the species; and . The species shall be re-established or introduced into suitable habitat, using seed salvage and nursery propagation to increase seed source. San Diego Coun(y Stipa (Stipa die~oel1.'iis) . The project is designed to preserve at least 75 percent of the species on site; and . The species shall be re-established in disturbed areas or introduced in suitable open space; the re-establishment shall include seed salvage, propagation of nursery plugs, and planting of plugs and seed. San Diego Sunflower (Vi~iera ladniata) The project is designed to retain at least 75 percent of the species on site; and Viguiera-dominated coastal sage scrub shall be restored at a 2:1 ratio using seed from the ranch. Page 42 California Adder's-tongue Fern (ODhio~/ossum /usitanicum ssp. califomicum) . The project is designed to preserve at least 50 percent of the species onsite. Coulter's Matilija Popp.y (Romneya coulteri) . The project is designed to preserve 50 percent of the species on site. The following mitigation measures are found to be infeasible: With regard to San Diego Thorn-mint, the species shall be introduced on appropriate soils on the Project site; the creation of artificial populations shall involve seed salvage of impacted population; nursery propagation to increase seed; and sowing of seed; a mitigation including a 2-3 year experimental phase and a 5-6 year maintenance and monitoring program. Rationale: Successful restoration may require a longer or shorter period of time than called for by the mitigation measure and success will be demonstrated by conformance with the criteria not by simple compliance with a specific number of years. . With regard to San Diego Button-celery and Otay Tarplant, a mitigation plan including a 2-3 year experimental phase and 5-8 year maintenance and monitoring proposal shall be required. Rationale: Successful restoration may require a longer or shorter period of time than called for by the mitigation measure and success will be demonstrated by conformance with the criteria not by simple compliance with a specific number of years. . With regard to San Diego Button-celery, preservation of 98 percent of species onsite. Proposed industrial development on Otay Mesa shall be pulled back to the south to preserve all vernal pools with this species. Rationale: The Project requires preservation of 95 percent of the onsite population of San Diego Button-celery including hundred of plants in the J23, 124 and 125 vernal pool areas. Achievement of the 98 percent to 100 percent standard outlined in the FPEIR would require preservation of the four additional vernal pools scattered about the southern extent of the 130 and 131 + vernal pool complexes on Otay Mesa. These areas do not have intact mima mound topography. Since, as described previously in these Findings, preservation of the southern extent of 130 and 131 + would render infeasible industrial development on Otay Mesa, this mitigation measure has been determined to be infeasible. Page 43 Preservation of 75 percent of Munz's sage. Rationale: Munz's sage is common on the Proctor Valley parcel. The Project requires preservation of 46% of onsite Munz's sage populations; this standard will ensure the continued survival of the species on the Ranch. Achievement of a 75 percent standard would require significant changes to the land use plan for central Proctor Valley. The land use plan for central Proctor Valley calls for development of a self-contained village that would be distinctly separate fro..l the estate development in northern Proctor Valley and the resort village to the south. Elimination of significant portions of the development in central Proctor Valley to preserve Munz's sage would render development of a self-contained village in central Proctor Valley infeasible. This mitigation measure has therefore been determined to be infeasible. . With regard to Greene's Ground Cherry, if present, preservation of75 percent of the species on site. Rationale: The Project will preserve 50 percent of the points of occurrence of this species rather than 75 percent required by EIR mitigation measures. Impacts to this species likely will occur due to the construction of Hunte Parkway, a proposed circulation element road, required to serve the Project. Although it may be possible to avoid impacts in the roadway alignment to Greene's ground-cherry, site specific biological and engineering studies have not yet been completed for the roadway alignment. Given the level of information available at this time, preservation of 75 percent of the onsite population of Greene's ground-cherry has been determined to be infeasible. In addition, it should be noted that Greene's ground-cherry (Physalis greenei) is no longer recognized as a separate taxa and has been determined to be the same taxon as Physalis crassifolia. Physalis crassifolia is widespread throughout Southern California, Arizona and New Mexico. Loss of two of the four points of observation for this species on Otay Ranch will not jeopardize the survival of this species. . Seventy-five percent of San Diego Goldenstar shall be preserved. Rationale: The Project will preserve 54 percent of the points of occurrence of San Diego golden-star rather than the 75% required by EIR mitigation measures. Impacts to this species will likely occur due to development within Central Proctor Valley and south and east of the lakes on the San Ysidro parcel. Central Proctor Valley has been planned as an integrated village as part of the Otay Ranch land use plan and development south and east of the lakes has been determined by decisionmakers to be desirable since it would provide high-end estate housing in the South County area. While it may be possible to preserve additional points of occurrence of San Diego golden-star within Central Proctor Valley and south and Page 44 east of the lakes as part of detailed Project plans, given the need to provide a well integrated land use plan for these areas, and the level of information available at this time, preservation of 75 percent of the onsite population of Muilla clevelandii has been determined to be infeasible. . For all stated listed endangered plant species, a mitigation plan including a 2-3 year experimental phase and 5-8 year maintenance and monitoring program shall be required. With regard to second, third and fourth priority plant species, restoration or transplantation shall include a 2 - 4 year experimental phase and a 5-8 year maintenance and monitoring period as appropriate for each species mitigation program. Rationale: Of the seven state or federally listed plants on the Project site four are being preserved in their entirety (100 percent of willowy monardella, slender-pod caulanthus, Mexican flannel bush and Dunn's mariposa lily), two are achieving a 95 percent preservation standard with transplantation/reintroduction proposed (San Diego button celery and San Diego thorn-mint) and one is achieving 80 percent preservation standard with impacts considered to be mitigated to a level below significance. For the plan species for which 100 percent preservation is being achieved, no mitigation in the form of transplantation is necessary. For Otay tarplant, since the 80 percent preservation standard has been determined to reduce impacts to below a level of significance, it has been determined that a transplantation program is not necessary. For San Diego thorn-mint, the mitigation measures listed on page 34 that have been determined to be feasible are regarded as sufficient. For San Diego button-celery, transplantation/restoration techniques will be developed as part of the vernal pool management plan to be prepared for the Phase 2 RMP. Given these factors, 7-11 year experimental and maintenance and monitoring programs have been determined to be unnecessary. . . . Significant Effect: Impact to Least Bell's vireo, tricolored blackbird, and the southwestern willow flycatcher habitat. [FPEIR' Volume 2, p. 4.9.4-5 through 4.9.4-7] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations have been required in, or incorporated into, the Project which will avoid the significant environmental effects as identified in the Final Program EIR' Mitigation Measures: The following mitigation measures are feasible and are required as a condition of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.4-17 through 4.9.4-22 and Table 4.9.4-2] Least Bells' Vireo (Vireo bellii pusillus) and Southwestern Willow Flycatcher (Em Didonax (railli ex(imus) Page 45 . One hundred percent (or approved Habitat Conservation Plan/San Diego Multiple Species Conservation Program (HCP /MSCP) standards) of occupied habitat for these species shall be preserved. . Prior to the first SPA containing Least Bell's habitat, the Applicant shall conduct a focused study of Least Bell's vireo distribution and abundance along Otay River and Dulzura Creek adjacent to the San Ysidro parcel. Prior to the first SPA containing Southwestern Willow Flycatcher's habitat, the Applicant shall conduct a focused study of Southwestern Willow Flycatcher's distribution and abundance along Otay River and Dulzura Creek adjacent to the San Y sidro parcel. Direct impacts from construction or expansion of the following roads to both species shall be assessed: Otay Valley Road in Otay River Valley Heritage Road crossing of Otay River La Media Road crossing of Otay River SR-l25 crossing of Otay River Otay Lakes Road at Dulzura Creek Alta Road crossing of Otay River (County Final Plan, only) Any additional roads that cross or run adjacent to Otay River or Dulzura Creek that have the potential to significantly impact Least Bell's vireo. . A mitigation plan shall be prepared and implemented for any direct impacts from road construction. Measures in the plan shall include one or more of the following as required to reduce the impact below a level of significance: The project's roadways shall be designed to avoid all direct impacts to occupied vireo habitat. Potential realignments may include: . Otay Valley Parkway. . La Media Road - Design to avoid occupied habitat. . Otay Lakes Road. Riparian habitat shall be restored or enhanced along the Otay River Valley in exchange for impacting unoccupied potential vireo habitat. Page 46 . Prior to approval of the first SPA containing Least Bell's Vireo, the Applicant shall conduct a study of indirect impacts (see below) on this species from proposed development and roads, effects of a village center and residential housing on the Dulzura Creek Least Bell's vireo population, the effects of the proposed Otay Valley Regional Park on the Otay River population, and the effects of roads on both populations. Evaluation of impacts shall be based on the baseline data in the Final Program EIR and from current distribution and abundance data obUlined from surveys conducted at the SPA level. A partial listing of potential indirect development and road impacts which shall be considered are: Human activity and disturbance. Noise impacts from roads and adjacent development. A noise study shall be conducted to determine noise impacts from roads adjacent to, within, or near vireo habitat, and from development adjacent to vireo habitat (e.g., at Dulzura Creek). Introduced predators such as cats. Increased potential for brown-headed cowbird parasitism. Construction noise, dust, and disturbance. Invasion of non-native vegetation (Le., Eucalyptus species, Arundo species, etc.) Artificial lighting from developed areas. Recreation related impacts. Habitat degradation and fragmentation. Changes in existing water quality and quantity which could negatively affect riparian habitat. . Prior to approval of the first SPA containing Southwestern Willow Flycatcher, the Applicant shall conduct a study of indirect impacts (see below) on this species from proposed development and roads, effects of a village center and residential housing on the DuIzura Creek Southwestern Willow Flycatcher population, the effects of the proposed Otay Valley Regional Park on the Otay River population, and the effects of roads on both populations. Evaluation of impacts shall be based on the baseline data in the Final Program EIR and from current distribution and abundance data obtained Page 47 from surveys conducted at the SPA level. A partial listing of potential indirect development and road impacts which shall be considered are: Human activity and disturbance. Noise impacts from roads and adjacent development. A noise study shall be conducted to determine noise impacts from roads adjacent to, within, or near vireo habitat, and from development adjacent to vireo habitat (e.g., at Dulzura Creek). Introduced predators such as cats. Increased potential for brown-headed cowbird parasitism. Construction noise, dust, and disturbance. Invasion of non-native vegetation (i.e., Eucalyptu.5 species, Arundo species, etc.) Artificial lighting from developed areas. Recreation related impacts. Habitat degradation and fragmentation. Changes in existing water quality and quantity which could negatively affect riparian habitat. . If it is determined during the environmental review for SPA plans that indirect impacts from development or roads are significant, a mitigation plan shall be prepared and implemented at the SPA level. This mitigation shall be incorporated into the general mitigation plan. Mitigation measures shall be based on approved standards by the appropriate public agency(ies) in effect at the time of the SPA development. Mitigation shall parallel with recommendations in the Resource Management Plan (e.g., in regards to lighting, plantings allowed in landscaping adjacent to occupied habitat, etc.). At a minimum, the following measures shall be incorporated into the mitigation plan: Restrict human access to occupied habitat in the breeding season (March 15 to August 31). Page 48 Require a minimum of a 100 foot biological and an adjoining 100 foot planting buffer along the edges of occupied, potential, and restored habitats. As necessary, increase open space easements to buffer noise impacts pending recommendations of the noise study. Implement an introduced predator management program. Implement a brown-headed cowbird management program. Employ measures to reduce construction impacts, including avoiding construction adjacent to or within occupied habitat during the breeding season (March 15 to August 31). Limit landscaping adjacent to occupied habitat (within the buffer zones) to native vegetation. Restrict the use of invasive, introduced plantings in landscaping adjacent to the buffer zones. Restrict lighting close to occupied habitat. Maintain and enhance where appropriate the existing water quality and quantity in occupied, potential, and restored habitats for this species. . Prior to approval of the first SPA, a management plan in conjunction with the RMP shall be prepared and implemented for this species. The species management plan shall include provisions for periodic monitoring of populations within the preserve as well as any significant onsite populations not included within the Management Preserve. The species management plan shall include appropriate management techniques approved by the resource agencies to maintain and, where feasible, to enhance existing onsite population(s). Tricolored ~Jackbird (Agelaius tricolor) The project is designed to provide one hundred percent (or approved HCP /MSCP standards) of nesting habitat for this species. . At the SPA level, the applicant shall conduct focused breeding surveys for this species in appropriate habitat. Page 49 . Direct and indirect impacts shall be assessed to breeding habitat from proposed development and roads. This includes assessing noise impacts from any proposed road alignments adjacent to preserved habitat. . Preserve in natural open space all occupied and restored breeding habitat, and where feasible, potential breeding habitat. . Include within the Ma._agement Preserve all preserved habitat. . To mitigate for impacts to potential habitat, restore or enhance suitable breeding marsh habitat along the Otay River. . Avoid construction or roads and other development during the breeding season (March 1 to August 31). Preserve in open space buffer zones around occupied, potential, and restored habitats. The minimum width of the buffer zone shall be determined at the SPA Level in conjunction with, and upon the approval, of the resource agencies. . Mitigation for foraging habitat loss shall be done in conjunction with mitigation for raptor grassland foraging habitat. . Prepare and implement a management plan for this species. . . . Significant Effect: Cactus Wren and California Gnatcatcher habitat would be impacted. [FPEIR, Volume 2, p. 4.9.4.5 through 4.9.4-7] Finding: Pursuant to Section 15091 (a)(I) of the State CEQA Guidelines, changes or alterations have been required in, or incorporated into, the project which will substantially lessen the significant environmental effects as identified in the Final Program EIR. Since the preservation standard for these species is 100 percent in lieu of an approved HCP /MSCP, the impact remains significant and unmitigable without major redesign. Pursuant to Section 15091 (a)(3) of the State CEQA Guidelines there are no other feasible measures which would mitigate the impact, however as described in the Statement of Overriding Considerations, the City Council has determined that this impact is acceptable because of specific overriding considerations. Mitigation Measures: The following mitigation measures are feasible and are required as conditions of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.4-17 through 4.9.4-22 and Table 4.9.4-2]. Page 50 Cactus Wren (Campylorhvnchus bnmneicauillus) The Project is designed to achieve the following standards: No loss of viable Cactus wren populations; Preserve adequate habitat within the Preserve to maintain no loss of viable Cactus wren populations. . At the SPA level, the Applicant shall reassess impacts to this species using detailed development plans, baseline data from the Final Program EIR, and updated distribution and abundance data from SPA level surveys. The Applicant shall conduct focused surveys of appropriate habitat at the SPA level to determine abundance and distribution of this species prior to development. Territories shall be delineated for those individuals/pairs which occur or could occur within or adjacent to proposed development and roads. The Applicant shall evaluate direct impacts to territories of individuals and pairs from proposed development. Impacts to locations of pairs/individuals for which habitat has been eliminated since the start of the environmental documentation process shall also be evaluated. Areas of CSS/MSS habitats that shall be enhanced or restored include: . Agricultural lands on the mesa and in ravines bordering the west side of Salt Creek Canyon. . Agricultural lands, non-native grassland (NNG), and disturbed CSS habitats along the north slope of the Otay River Valley and as appropriate along the bottom of the valley. . Agdculturallands and NNG bordering and within Wolf Canyon, bordering and within Poggi Canyon, and along the shallow r.avine identified as a gnatcatcher and cactus wren corridor linking the two canyons. . NNG within and adjacent to Johnson Canyon. Unavoidable impacts to occupied habitat shall be mitigated through habitat creation, restoration, or enhancement of disturbed habitats. Impacts to high quality potential habitat and to sighting locations for which habitat has been eliminated since the start of the environmental Page 51 documentation process for the Final Program EIR shall also be mitigated through habitat creation, restoration, or enhancement. Mitigation ratios for occupied and potential habitat shall be based on accepted standards of the appropriate public agency at the time SPA development occurs, and shall be set through consultation with, and approval from, the resource agencies. Creation, restoration, and enhancement 0: disturbed habitat as mitigation for occupied habitat, shall occur prior to impacting the occupied habitat. A focused study shall document occupancy and breeding of the impacted species in the created, restored, or enhanced habitat before the occupied habitat can be impacted. Prepare and implement a long-term management plan for this species. Direct impacts shall be assessed from proposed road construction at the SPA level. Road alignments to be considered include: Otay Valley Road along the northern slope of the Otay River Valley. Hunte Parkway along the west side of Salt Creek Canyon. Paseo Ranchero Road across Poggi Canyon. East Orange Avenue through Poggi Canyon. SR-125 alignment on the north slope of the Otay River Valley and through Johnson Canyon. Alta Road through Lower Salt Creek. Palomar Street north of Poggi Canyon. La Media Road at the north slope of the Otay River Valley. Any other proposed roads with potential to impact occupied or potential habitat. . A mitigation plan shall be prepared and implemented for significant direct impacts to the species from road construction. Alignments shall be redesigned to achieve Project standards. Potential realignments may include: Page 52 . Otay Valley Road . Hunte Parkway . Paseo Ranchero Road . East Orange Avenue All roads crossing gnatcatcher and cactus wren corridors shall conform to the recommendations of the Otay Ranch Wildlife Corridor Study. California Gnatcatcher (PolioDtila califomica) The Project is designed to preserve 70 percent of occupied California gnatcatcher habitat on site, to restore an additional 15 percent of California gnatcatcher habitat and to preserve 52 percent of documented pairs and individuals. Impacts in the following areas shall be assessed and Project standards achieved: Otay Lakes Road through the Jamul Mountains. Proctor Valley Road through the disjunct L-shaped parcel. . . . The following mitigation measures were rejected as infeasible: . The Applicant shall develop and implement a mitigation plan to avoid, reduce, and otherwise mitigate direct impacts from proposed development to a level below significance. This SPA level mitigation plan shall include at a minimum the following measures: Redesign to avoid development impacts to occupied habitat. Unmitigable coastal sage scrub/maritime succulent scrub (CSS/MSS) areas for this species that shall be preserved as natural open space are: . Salt Creek drainage - preserve entire drainage from rim to rim and any adjacent or nearby areas with CSS/MSS. . Poggi and Wolf Canyons - preserve both canyons from rim to rim and any adjacent or nearby areas with CSS/MSS. Page 53 . Existing CSS on Rock Mountain and all existing CSS/MSS on the north slope of the Otay River Valley . Preservation of all occupied CSS within Jamul Rural Planning Area 16. . Preservation of all occupied CSS on the southwest slope of the Jamul Mountains and south and east of Upper Otay Lake. . Preservation of all CSS and any other occupied habitat south of Lower Otay Lake and Dulzura Creek. . Preservation of 100 percent of the occupied habitat of the California gnatcatcher. Rationale: The proposed mitigation measures require preservation of 100 percent of the occupied habitat of the California gnatcatcher, including all occupied CSS within Jamul Rural Planning Area 16, on the southwest slope of the Jamul mountains and south and east of Upper Otay Lake, in the Salt Creek drainage area, Poggi and Wolf Canyons, Rock Mountain, the north slope of the Otay River Valley and south of the Lower Otay Lake and Dulzura Creek. This is infeasible for a number of reasons. First, it should be noted that the Project requires a minimum of 85 percent of existing coastal sage scrub habitat to be preserved and restored. This means that only 15 percent of the habitat is actually impacted. Even if all occupied coastal sage were preserved, it would not result in preservation of 100 percent of the current population. indeed, there are significant patches of coastal sage that, even if preserved, would -- by virtue of surrounding development -- become isolated, fragmented pockets of sage that would ultimately succumb to the intrusion of the surrounding human environment, resulting in a loss of gnatcatcher population. What the Project does, instead, is to preserve comprehensive, integrated open space systems in a maintained preserve, rather than isolated patches of habitat. If all occupied habitat is preserved, densities would be reduced such that there would not be a RMP; resulting in open space, but not managed open space with restoration, enhancement and protection functions. Preservation of all occupied habitat, including those areas specifically identified in the mitigation measures, would result in significant, fundamental changes to the overall land plan and the goals of that plan. The development south and east of the lakes on the San Ysidro parcel would be eliminated. The record reflects that the development of this community as a large lot, rural estate-type, "premium" community is an important objective of the project. This particular location offers a unique opportunity for such a community. The plan proposes pockets of developable land interspersed among more sensitive habitat. The large estate lots Page 54 will have panoramic views of the lake and will be surrounded by the open space of the preserve, as well as by the extensive BLM property in1mediately adjacent to the south. The decisionmakers have determined that a broad range of housing types is beneficial to the Project and to the Southbay. With regard to the occupied habitat on the southwest slope of the Jamul Mountains and south and east of the Upper Otay Lake, this area, again, achieves one of the principal objectives of the project - i.e., the development of a resort village. This property was determined to be uniquely situated to achieve this goal. Topographically, it is located on an elevated mesa top looking out over the Otay Lake. Geographically, it is sufficiently isolated from land uses that would be incompatible with resort-oriented development, yet proximate enough to surrounding uses such as the Olympic Training Center, the lakes and the eastern urban center, thus creating synergism between the different land uses. Given this unique location and features for the resort, it is infeasible in this area to preserve 100 percent of the occupied habitat. Finally, preservation of all occupied gnatcatcher habitat would have significant impacts on the ability to plan road systems (SR 125, Orange Avenue, Paseo Ranchero, Otay Valley Road, La Media); the recreational uses in Poggi and Wolf Canyons; the university and the overall densities and village concept. Indeed, the proposed mitigation measures would require an additional 1,300 acres within the Otay Ranch for Diegan coastal sage scrub preservation and restoration which would have two results: (1) possible elimination of areas designated for low (L), low medium village (LMV) to medium high (MH) density development on the Otay River parcel, and (2) elimination of areas set aside for potential active recreation uses within the future Otay Valley Regional Park (FPEIR, Figure 3.3-8). Assuming a density range of 2-4 dwelling units per acre and elimination of 1,100 acres of development on the Otay River parcel, development potential on the Otay River parcel could be reduced by 2,200 up to 4,400 dwelling units. The area available for active park uses in the Otay River Valley could be reduced by 200 acres assuming 200 acres of additional Diegan coastal sage scrub restoration in the Otay River Valley. The reduction in development potential on the Otay River parcel associated with the additional preservation of Diegan coastal sage scrub would adversely affect the village concept incorporated in the land use plan for this parcel. The village concept has been determined to have significant benefits with respect to community design, reduced trip generating and encourage of transit use. (See, Statement of Overriding Considerations) The reduction in potential area for active recreation uses in the Otay River Valley may adversely affect future plans for Otay Valley Regional park. Specific effects cannot be determined until plans for the park have progressed further. Page 55 Finally, with regard to the area southeast of the lakes, The City Council determines that there is a need to balance housing types in the South County. To this end, the City Council is desirous of providing estate housing opportunities as reflected by the Project. The City Council further believes that the provision of a broad range of housing types help to attract business opportunities to a particular area. There is currently a vast amount of industrially zoned land in the City of San Diego on the Otay Mesa. Proximate housing opportunities will assist in achieving the jobs-housing balance sought in the City's General Plan. Preservation of 100 percent of the occupied habitat and points of occurrence of the cactus wren. Rationale: Preservation of 100 percent of the cactus wren occupied habitat is also infeasible. While most of the significant concentrations of the cactus wren will b preserved (e.g., Salt Creek) some of the habitat -- most notably in Poggi Canyon n could be impacted by infrastructure necessary for the Project to work. Orange Avenue, for example, is a circulation element road that is vital to the circulation system for the Project. The extension of Orange Avenue as it is already constructed offsite will take the road through Poggi Canyon and necessarily impact cactus wren habitat. Additionally, the Project must comply with the mitigation measure requiring no loss of viable cactus wren populations and requiring that adequate habitat be included in the preserve to maintain no loss of viable cactus wren populations. . . . Significant Effect: Riverside fairy shrimp habitat would be impacted. [FPEIR, Volume 2, p. 4.9.4-5 through 4.9.4-6] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations have been required in, or incorporated into, the Project which will avoid the significant environmental effects as identified in the Final Program EIR. Mitigation Measures: The following mitigation measures are feasible and are required as a condition of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.4-17 through 4.9.4-22 and Table 4.9.4-2] Riverside Fail)' Shrimp (Strevtocevhalus woottoni) . One hundred percent (or approved HCP/MSCP standards) of occupied habitat for this species shall be preserved. . At the SPA level, the Applicant shall conduct a focused study of the distribution and abundance of these species within vernal pool habitat on Otay Ranch. Page 56 . The Applicant shall assess direct and indirect impacts to occupied and potential habitat (including vernal pools and associated watersheds) from proposed development and roads. The following is a partial listing of impacts which shall be considered: Direct impacts to occupied and potential habitat (including vernal pools and associated watersheds). Modifications of the watershed from development or roads which could change the water availability and water quality (e.g., pool chemistry) in vernal pools. Any changes to the watershed or vernal pools themselves could affect this species in an adverse way. The introduction of harmful chemicals into vernal pools through runoff from adjacent development, roads, and other land uses. Habitat degradation and fragmentation from adjacent development and roads. The introduction and proliferation into potential or occupied habitat of sensitive fairy shrimp, competitor species, such as Branchinecta lindahli. Harmful competitors could be introduced through the habitat restoration imd enhancement process or through improper fairy shrimp reintroduction techniques. Any adverse impacts from increased human activity and presence (e.g., off-road vehicle activity, trampling of pools, illegal dumping, etc.). . A mitigation plan shall be prepared and implemented for significant direct and indirect impacts from proposed development or roads. The following shall be incorporated into the mitigation plan: Preserve vernal pool complexes and associated watersheds where this species occurs or has the potential to occur. The project shall be designed to avoid impacts to all occupied habitat. Additionally, the projects is designed to avoid all impacts to the greatest extent feasible, impacts to potential habitat. Include within the Preserve all occupied, restored, vernal pool habitat and associated watersheds. Provide a 100 foot buffer around all preserved vernal pool complexes and associated watersheds. Page 57 Restore or enhance disturbed vernal pool habitat to mitigate for unavoidable direct impacts to potential habitat or for indirect impacts to occupied habitat. Mitigation ratios for potential vernal pool habitat shall be based on accepted standards at the time that SPA development occurs, and shall be established through consultation with, and approval from, the resource agencies. Restore or enhance al. eady disturbed habitat prior to impacting potential vernal pool habitat. As mitigation for impacts to potential habitat, conduct a study at the SPA level concerning the feasibility of reintroducing this species into restored or enhanced vernal pool habitat. If feasible, use approved methodologies for introduction and monitoring of reintroduced populations. Maintain connectivity to the extent feasible within preserved vernal pool complexes and between adjacent or nearby vernal pool groups. Develop and implement a plan to eliminate harnIful runoff from development and roads while still maintaining sufficient water supply for maintaining and where appropriate enhancing occupied, potential, and restored vernal pool habitat. . A management plan shall be prepared and implemented for these species. The following mitigation measures are found to be infeasible: . Include within the Preserve all potential vernal pool habitat. . Maintain absolute connectivity between vernal pool complexes. Rationale: Virtually all areas of the Project evidencing clay soils with a potential for ponding water are "potential vernal pool habitat." Preservation of all such areas would be infeasible as it would prohibit development of the entire industrial area of Otay Mesa and other areas in the San Ysidro parcel. As previously noted, the Project objectives require development in these areas. As for connectivity between pool complexes, the Project preserves a variety of vernal pools in disparate locations throughout the property. Connection of these complexes is infeasible topographically. Any connection would require significant revision of the land plan to eliminate development. Even connection of proximate pools (e.g., R6, R8 and R12 may be physically infeasible and might elinUnate resort and residential development. Page 58 . . . Significant Effect: San Diego Vernal Pool Fairy shrimp habitat would be impacted [FPEIR, Volume 2, p. 4.9.4-5 through 4.9.4-6] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alternations have been required in, or incorporated into, the Project which will substantially lessen the significant environmental effects as identified in the Final Program EIR. Pursuant to 15091 (a) (3) of the State CEQA Guidelines, there are no other feasible measures which would mitigate this impact, however, as described in the Statement of Overriding Considerations, the City Council has determined that this impact is acceptable because of specific overriding considerations. Mitigation Measures: The following mitigation measures are feasible and are required as a condition of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.4-17 through 4.9.4-22 and Table 4.9.4-2] San Diego Vernal Pool Fairy ShrimJ) (Branchinecta sandie~ensis) . The Project is designed to preserve 95 percent of occupied habitat for the species where co-occuring with vernal pool habitat. At the SPA level, the Applicant shall conduct a focused study of the distribution and abundance of these species within vernal pool habitat on Otay Ranch. . The Applicant shall assess direct and indirect impacts to occupied and potential habitat (including vernal pools and associated watersheds) from proposed development and roads. The following is a partial listing of impacts which shall be considered: Direct impacts to occupied and potential habitat (including vernal pools and associated watersheds). Modifications of the watershed from development or roads which could change the water availability and water quality (e.g., pool chemistry) in vernal pools. Any changes to the watershed or vernal pools themselves could affect this species in an adverse way. The introduction of harmful chemicals into vernal pools through runoff from adjacent development, roads, and other land uses. Habitat degradation and fragmentation from adjacent development and roads. Page 59 The introduction and proliferation into potential or occupied habitat of sensitive fairy shrimp, competitor species, such as Branchinecta lindahli. Harmful competitors could be introduced through the habitat restoration and enhancement process or through improper fairy shrimp reintroduction techniques. Any adverse impacts from increased human activity and presence (e.g., off-road vehicle activity, trampling of pools, illegal dumping, ("c.). . A mitigation plan shall be prepared and implemented for significant direct and indirect impacts from proposed development or roads. The following shall be incorporated into the mitigation plan: Provide a 100 foot buffer around all preserved vernal pool complexes and associated watersheds. Restore or enhance disturbed vernal pool habitat to nutlgate for unavoidable direct impacts to potential habitat or for indirect impacts to occupied habitat. Mitigation ratios for potential vernal pool habitat shall be based on accepted standards at the time that SPA development occurs, and shall be established through consultation with, and approval from, the resource agencies. Restore or enhance already disturbed habitat prior to impacting potential vernal pool habitat. As mitigation for impacts to potential habitat, conduct a study at the SPA level concerning the feasibility of reintroducing this species into restored or enhanced vernal pool habitat. If feasible, use approved methodologies for introduction and monitoring of reintroduced populations. Maintain connectivity within vernal pool complexes and between adjacent or nearby vernal pool groups. Develop and implement a plan to eliminate harmful runoff from development and roads while still maintaining sufficient water supply for maintaining and where appropriate enhancing occupied, potential, and restored vernal pool habitat. . A management plan shall be prepared and implemented for these species. The following mitigation measures are found to be infeasible: Page 60 One hundred percent (or approved HCP/MSCP standards) of occupied habitat for this species shall be preserved. Include within the Preserve all potential vernal pool habitat. . Preserve vernal pool complexes and associated watersheds where this species occurs or has the potential to occur. The Project shall be designed to avoid impacts to all occupied habitat. Additionally, the Project is designed to avoid all impacts to the greatest extent feasible, impacts to potential habitat. Include within the Preserve all occupied, restored, vernal pool habitat and associated watersheds. Rationale: San Diego fairy shrimp can occur any place where seasonal water may pond or persist more than 1-2 weeks including road ruts, scrapes and other places that do not support vernal pool indicator species or any other sensitive organisms. Preservation of 100 percent of occupied habitat could result in elimination of development anywhere on Otay Ranch that such ponded water occurs including non- sensitive habitat areas such as road ruts and scrapes. Since it could adversely affect the overall land use plan for Otay Ranch throughout the Ranch, achievement of the 100 percent standard has been determined to be infeasible. Virtually all areas of the Project evidencing clay soils with a potential for ponding water are "potential vernal pool habitat". Preservation of all such areas would be infeasible as it would prohibit development of the entire industrial area of Otay Mesa and other areas in the San Ysidro parcel. As previously noted, the Project objectives require development in these areas. . . . Significant Effects: Harbison's dun skipper, Hermes copper, Thorne's hairstreak, and Quino checkerspot habitat would be impacted. [FPEIR, Volume 2, p. 4.9.4-5 through 4.9.4-6 and Table 4.9.4-2] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations have been required in, or incorporated into, the Project which will avoid the significant environmental effects as identified in the Final Program EIR. Mitigation Measures: The follQwllg mitigation measures have been found to be feasible and have been required either as a condition of approval or have been made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.4-18 through 4.9.4-21] Page 61 Harbison's Dun Skipper (Euvhves vestris harbisoni) . One hundred percent (or based on approved HCP/MSCP standards) of occupied habitat shall be preserved. . The Applicant shall assess direct and indirect impacts from proposed development and roads. A mitigation plan shall be prepared and implemented for significant impacts. The following measures shall be incorporated into the mitigation plan: The project is designed to avoid impacts to occupied habitat. Preserve in natural open space all occupied habitat. Preserve in natural open space; high quality potential habitat (including all southern live oak riparian forest), and locations where the host plant, San Diego sedge (Carex spissa) occurs. Enhance as appropriate, unoccupied southern live oak riparian habitat in preserve areas through the introduction of San Diego sedge. Incorporate a minimum of 75 percent of preserved habitat for this species into the Management Preserve. Maintain, and enhance as appropriate, the existing water quality and quantity in habitat preserved for this species. . A management plan for this species shall be developed and implemented. The following mitigation measures are found to be infeasible: . The Applicant shall conduct focused surveys for this species in appropriate habitat. Rationale: Because the Project requires 100 percent preservation of the host plant of the species (San Diego sedge) there is no need to conduct detailed studies regarding the location of the species. Hermes Copper (Lvcaena hermesi . One hundred percent (or approved HCP/MSCP standards) of occupied habitat for this species shall be preserved. Page 62 At the SPA Level, the Applicant shall conduct focused surveys for this species in appropriate habitat. The Applicant shall assess direct and indirect impacts from proposed development and roads. A mitigation plan for significant impacts shall be prepared and implemented. The following measures shall be incorporated into the mitigation plan: . The project is designed to avoid impacts to occupied habitat. . Where appropriate, implement mitigation for this species in conjunction with mitigation for other species. A management plan for this species shall be developed and implemented. Thorne's Hairstreak {Mitouri thomeil . One hundred percent (or approved HCP/MSCP standards) of occupied habitat shall be preserved. At the SPA Level, the Applicant shall conduct focused surveys for this species in appropriate habitat. The Applicant shall assess direct and indirect impacts from proposed development and roads. A mitigation plan for significant impacts shall be prepared and implemented. The following measures shall be incorporated into the mitigation plan: . The project is designed to avoid impacts to occupied habitat. . Preserve in natural open space all occupied habitat and potential habitat in Tecate cypress (Cupressus forbesii) stands. A Fire Management Plan shall be prepared and implemented to prevent catastrophic wildfire destruction of the larval host, Tecate cypress. The fire control measures should include as a minimum, the following measures: Page 63 . Prohibition of recreational off-road vehicle activity in the San Ysidro parcel. . Restriction of camp fires to designated areas. . Banning of gun shooting in the San Ysidro parcel. . Development of a public wildfire edu-ltion and prevention program. . Development and implementation of a program for conducting controlled burns. A management plan for this species shall be developed and implemented. Ouino Checkerspot (Euphvdryas editha auino) . One hundred percent (or approved HCP/MSCP standards) of occupied habitat required for this species shall be preserved. At the SPA level, the Applicant shall conduct focused surveys for this species in appropriate habitat. The Applicant shall assess direct and indirect impacts from proposed development and roads. A mitigation plan for significant impacts shall be prepared and implemented. The following measures shall be incorporated into the mitigation plan: . The project is designed to avoid impacts to occupied habitat. . Preserve in natural open space all occupied habitat. . Preserve historical habitat in conjunction with mitigation for other spe.cies (e.g., Streptocephalus woottoni). . Introduce into vernal pools where appropriate, native Plantago species, the larval hosts for Quino checkerspot. * * * Page 64 Significant Effect: California red-legged frog and southwestern pond turtle would be impacted. [FPEIR, Volume 2, p. 4.9.4-6 and p. 4.9.4-7] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations have been required in, or incorporated into, the Project which will avoid the significant environmental effects as identified in the Final Program EIR. Mitigation Measures: The following mitigation measures are feasible and are required as a condition of approval and are binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.4-18 through 4.9.4-22 and Table 4.9.4-2] California Red-legged Frog (Rana aurora draytoni) and Southwestern Pond Turtle (Clemmvs marmorata oallida) . One hundred percent (or approved HCP/MSCP standards) of occupied habitat required for this species shall be preserved. At the SPA level (affecting occupied habitat for these species), the Applicant shall conduct focused surveys for this species in appropriate habitat. The Applicant shall assess direct and indirect impacts from proposed development and roads. A mitigation plan shall be prepared and implemented for significant impacts. The following measures shall be incorporated into the mitigation plan: . Preserve in natural open space all occupied habitat. Preserve in open space as feasible, potential aquatic habitat. . Enhance or restore as appropriate, disturbed wetlands adjacent to occupied habitat and in the Otay River, to mitigate for indirect impacts to occupied habitat and impacts to potential habitat. . Restore or enhance currently disturbed aquatic habitat prior to impacting potential aquatic habitat. . Preserve in open space, buffer zones around occupied, potential, and restored habitats. The minimum width of the buffer zone shall be determined at the SPA level in conjunction with, and upon the approval of, the resource agencies. Retain connectivity between upland habitats, identified as essential at Page 65 the SPA level for this species, and adjacent occupied, potential, and restored aquatic habitats. . Preserve occupied and potential upland nesting habitat for Southwestern Pond Turtles which is adjacent to occupied, potential, or restored aquatic habitat. A management plan shall be developed and implemented for these species. Provisions shall be made for controlling introduced predators of these species (e.g., bullfrog and large-mouthed bass). The following mitigation measure is rejected as infeasible: . The project is designed to avoid impacts to occupied habitat and to avoid impacts to potential aquatic habitat. Rationale: The mitigation measure requires preservation of 100 percent of occupied habitat for the red-legged frog and pond turtle. Aquatic habitat has been mapped in areas proposed for road alignments and development. With regard to road alignments, at the SPA level, further mapping will be required; in determining road alignments the decisionmakers may need to balance impact to aquatic habitat against other potential environmental damage, Le., steep slopes. Consequently, these decisions are more appropriately left for the SPA level of analysis. The same analysis is true for development areas; where more precise plans are available final decisions regarding location of development can be made taking into consideration other environmental issues. . . . Significant Effect: Forty-nine (49) other sensitive wildlife species may be impacted. [FPEIR, Volume 2, p. 4.9.4-5 through 4.9.4-7] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations have been required in, or incorporated into, the Project which will avoid the significant environmental effects as identified in the Final Program EIR. The supporting habitats for these invertebrate, reptile, amphibian, and small mammal species on Otay Ranch have been identified and delineated. On Otay Ranch the majority of these habitats are considered sensitive or are in rugged, steep, and remote areas which are not suitable for development. The deduction was that evaluation of primary habitats would give an assessment of potential impacts to these species at the program level. This is a similar logic to that employed in the Multiple Species Conservation Program (MSCP) and Natural Communities Conservation Program (NCCP) where representative species are evaluated target species, oru Page 66 umbrella species are evaluated. Typically, many of the species lacking in baseline data are difficult to detect or identify without specialized surveys. For these reasons, impact evaluations are often tied in with an assessment of umbrella habitats (e.g., aquatic habitats and southwestern pond turtle (Clemmys marmorata pallida) and two- striped garter snake (Thamnophis hammondii); vernal pools and fairy shrimp species; coastal sage scrub and San Diego horned lizard (Phrynosoma coronatum blainvillei) and orange-throated whiptail (Cnemidophorus hyperythrus)). Due to the large area, duration of the Project (estimated buiJdout over 30 to 50 years), and costs of surveys, it was considered reasonable at the Program EIR level to evaluate impacts to hard- to-detect animal species through impacts to primary habitats. More specific surveys and studies are required at the SPA Plan level (see Tables 3.3-7,4.2.4-5,4.7.4-3, and 4.9.4-2) when there will also be more detailed project information (e.g., infrastructure and road alignments). Focussed surveys shall be required for the orange throated whip tail and San Diego horned lizard. Because buildout will occur over such a long time period, focused surveys prior to each phase of development will more accurately reflect the distribution, abundance and cumulative impacts of sensitive species at the time of development. Because habitat for invertebrates, reptiles, amphibians, and small mammals was fully surveyed, focused surveys or special studies for invertebrates, reptiles, amphibians, and small mammals were deemed to be redundant at the progranlffiatic level. In other words, this FPEIR has assumed the presence of certain species because of the occurrence of their habitat. Biologists familiar with the study area made determinations about which habitats and which species should be studied. Such determinations are consistent with the County's Biological Survey Guidelines. Lack of distribution and abundance information in a number of areas was initially identified by the Otay Ranch Biological Subcommittee and subsequently presented in data gap documents (see Otay Ranch Technical Reports, Volume IV, Biology). Data gap documents were requested to provide information in addition to that provided by baseline surveys for preparation of the Program EIR. Additional data gaps will be filled in the Phase II Resource Management Plan and at the Specific Plan EIR level (Tables 3.3-7, 4.2.4-5, and 4.9.4-2) as part of required ongoing studies. The Otay Ranch Biology Subcommittee had over 40 meetings between 1989 and 1991 in which biological resource issues were discussed (see Section 3.3.1.1 of the Draft Program EIR). Representatives from the United States Fish and Wildlife Service (USFWS), California Department of Fish and Game (CDFG), San Diego County, other local agencies, and consulting firms associated with the Otay Ranch Project attended these meetings on a regular basis. The subcommittee determined that existing baseline data were sufficient to proceed with a program level EIR. Another factor adding to the difficulty of obtaining baseline information on wildlife is that the list of sensitive animals species is in a continual state of flux. Since the first draft of the Program EIR was produced in August 1991, there have been over 37 state or federal changes or proposed changes in sensitivity status for animals Page 67 which could occur in the Otay Ranch Project area. Twenty-eight species gained USFWS Candidacy or CDFG Species of Special Concern status during this period. Of these 28 species, 22 had no prior state or federal sensitivity status and had to be incorporated into the Draft Program EIR late in the process. The USFWS emphasizes the monitoring of species for which available scientific information indicates imminent threat. The Otay Ranch Biological Subcommittee identified such species during its review of the data base and required that these data gaps be filled. In additL1, the USFWS has listed a large number of candidate species (Category 2). These species are described as follows (Fed. Reg. 56(225):5880): 'The Service emphasizes that these taxa are not being proposed for listing by this notice, and that there are no current plans for such proposals unless additional supporting information becomes available. Further biological research and field study usually will be necessary to ascertain the status of taxa in this category. It is likely that many will be found not to warrant listing, either because they are not threatened or endangered or because they do not qualify as species under the definitions in the Act. The Service hopes that this notice will encourage necessary research on vulnerability, taxonomy, and/or threats for these taxao" The Draft Program EIR requires focused surveys for these species at the SPA Plan Level as the buildout of Otay Ranch proceeds. Additionally, the EIR imposes mitigation requiring the preservation of certain percentages of habitats and species. Accelerated field studies could be required if the status of any of these species changes. The proliferation of sensitive species in the Otay Ranch Project area undoubtedly will continue over the 30- to 50-year buildout. Surveys prior to each SPA Plan development will more accurately target those species which are considered sensitive at that point in time, thus allowing for the formulation of mitigation in addition to that mitigation required by this EIR. Another consideration is that it is not reasonable or financially feasible to require detailed surveys for the program level EIR which need to be repeated at the SPA Plan level. The general nature of the development plan, with a lack of specific planning detail and large scale mapping at the program level, requires further, more detailed evaluation of impacts at the SPA Plan level when site specific plans are available. At the program level, issues and potential impacts to sensitive animals were identified and recommended for further study at the SPA level. (Tables 3.3-7, 4.2.4-5, and 4.9.4-2). (See also Table 6 above.) If major project redesign were required to reduce or avoid impacts but was not feasible or did not meet the goals of the development plan, then the impact was considered unmitigable for that species (see Sections 3.3.4, 4.2.4.3, 4.3.4.3, 4.4.4.3, 4.5.4.3, 4.6.4.3, 4.7.4.3, and 4.9.4.3). This type of evaluation will also be conducted at the SPA Plan level. Table 6 provides information for each sensitive anin1aI species which could occur in the Otay Ranch Project area. The table presents habitat affinities, recommended measures to reduce impacts at the program level, requirements for ongoing study and reduction of impacts at the SPA Plan level, minimum preservation standards, and Page 68 umbrella habitats associated with each sensitive species. Abundance and distribution information was used in the Draft Program EIR (Tables 3.3-7, 4.2.4-5, and 4.9.4-2) for those species for which it was available. This information was used in quantitatively assessing impacts and recommending mitigation to avoid or reduce impacts. An overall categorization of impacts to habitats supporting sensitive animal species is also presented in the Draft Program EIR (Tables 3.3-7, 4.2.4-5, and 4.9.4- 2). This evaluation was based on habitat affinities (presented in Table 6) and delineated impacts to habitats (Tables 3.3-5, 4.2.4-1, 4.7.4-1, and 4.9.4-1). Regional and local records were used in evaluating the potential for various sensitive species to occur within the Otay Ranch Project area. For some species, evaluation of habitat impacts is the basis for determining potential impacts at the program level. Conversely, the preservation of sensitive umbrella habitats recommended by the Draft Program EIR (see Sections 3.3.3, 4.2.4.2, 4.3.4.2, 4.4.4.2, 4.5.4.2, 4.6.4.2, 4.7.4.2, and 4.9.4.2) and retention of non-sensitive, undevelopable habitats in open space forms the basis for preservation of each of these species at this level of analysis. Minimum standards for preservation are based on preserving occupied habitat and in some cases on preserving individual animals. These standards are primarily based on the same rationale used to determine the significance of impacts in the Draft Program EIR (See Section 3.3.2.4). Requirements for ongoing studies, further assessment of impacts, and preparation of mitigation at the SPA level are given in Table 6 and are also based on recommendations in the Draft Program EIR (Tables 3.3-7, 4.2.4-5, 4.7.4-3, and 4.9.4-2). The use of a designation like "potentially significant" reflects the extent of available data, the feasibility of the implementation of the mitigation measures, and the level of detail of the project data (e.g., 1" = 1000' scale mapping). The significance of impacts to biological resources from eacb development plan reflects a worst-case approach in the Final Program EIR. Analysis of Significance sections (3.3.4, 4.2.4.3, 4.3.4.3, 4.5.4.3, 4.6.4.3, and 4.9.4.3) have been revised in the Final Program EIR for potentially significant wildlife species to reflect this worst -case approach in terrns of determining significance and mitigability of impacts. Detailed studies are required at the SPA Plan level to finally determine the significance of potential impacts to define specific mitigation measures. Pursuant to section 15091 (a)(3) of the State CEQA Guidelines, there are no feasible measures at this level of planning to mitigate potential impacts below a level of significance. As described in the Statement of Overriding Considerations, however, the City Council has determined that this potentially significant impact is acceptable because of specific overriding considerations. Mitigation Measures: The following mitigation measures are feasible and required as a condition of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, Section 3.3.3] Page 69 . Detailed studies shall be required at the SPA level to determine distribution and abundance. Assessment of impacts, preparation and implementation of mitigation for significant impacts shall also be required for those species found to occur onsite. Preserve habitat in open space (see page 3.3-108). Incorporate open space into the I\~IDagement Preserve (see page 3.3- 108). Restore/enhance disturbed habitat (see page 3.3-108). . See Table 6 (from FPEIR), which follows. 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U ~ ~ 1,1) W II . 11 ~ a ~ - (j[jt] !C&:i:J1;; as. ~ ~~i E- .! n 5 3~~ u n- . n 0 0 -51to . . ~ " ~ ~ It ~.- ! ~ ~ 11 ~.~ a-It H!!. n H a ;0.. It.c rn .~ I/) ~.~ g~~ ~ .. .1 J: a- e - , f = ~ . ~ 11 ~ ~ ~ q ~ t a- ep .!! . . .. h 11 ~. ~ 2 ~ .~ 8 0 :a q~ 1.. <t:I .! ~ f~ld cS ~ !J ~~ .~ !t. ~ . '"'" . : Page 83 Significant Effect: Regional raptor-foraging areas would be impacted. [FPEIR, Volume 2, p. 3.3-48 through 3.3-51] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations have been required in, or incorporated into, the Project which will substantially lessen of the significant environmental effects as identified in the Final Program EIR. Pursuant to Section 15091 (a) (3) of the State CEQA Guidelines, there are no feasible measures at this level of planning to mitigate impacts below a level of significance for impacts to non-native grasslands which are raptor-foraging areas. As described in the Statement of Overriding Considerations, however, the City Council has determined that this significant impact is acceptable because of specific overriding considerations. Mitigation Measures; The following mItIgation measures are feasible and are required either as a condition of approval or are made binding on the Applicant through these Findings. [FPEIR, Volume 2, Table 3.3-7, mitigation measures 32 through 36] Key raptor resource areas in proposed open space shall be preserved in accordance with the Otay Ranch Raptor Management Study (Ogden 1992a). The restoration/enhancement of nesting and foraging habitat shall be required. Standards for preservation are defined in Table 3.3-7 of the FPEIR and are as follows: Page 84 t ;;; ! .II ] . s i oc ! 0., 100;. - ",.. t.. s ..z I ;]= -.... ::E .," I "'.... .... =~ :I., 0::E ..z } 0 i ",oc :1- ~ i& G 'i "., '" ~= n - .. .. =oc .; :I" ... 5~ . 0''' ...'!. Ai :I", . 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Q. _=(0"1- -6'S'C.'Sg. 0 eu~.!!';,~ c .~ u .~ _. :J i: Z Q,,,g "" ..;o..,,~ o~-e" f"'Il,I..Ei[J,g:9.~!:I .!:Iu8.--9 '9u~c.~ ~.:.. .=d:-J!~j;; .>iee-.~C:: e_2~..f"'I N.::! u:;; RS"'.e .~1o\5!i'" ':<1:!5i!5~;;u .uD.-~~ ~ ~ '8 " _.8 'oji b 3'" ;'~ ~ e" N '.:. -S".:;;3..... ~ ~ -= = e-~" &.i].5 ~ ~:J ! e =< <a:-5 a ~....;u ' .. ~ ~ H ~ '" 11 i 30. ..U 8'" _::1 '" z '" z ::1 z ::: ::: ... = ;:; ~ z . " 1 '" . " ] .. 13 ::. ~ -; ! j 3.3-111 .. ~ '" 0. = z z . ~ ~ ." . ,,; " ~ ~ Ji .. ~ ~ " ~ . " e .5 ~ ! o o ; . . 3.!! :,QH ~a- .". H .S ; . ~~ 00. ;.5 .= c :! ~ ~s ~;. 'C.; .J! 8.; r- ':';'~ ~ b~ ~ 8 ~ .t. e ,..; H ~ '" .. .. o 0 ~ ~ '" z '" '" 0. 0. ... = ... :E = ::: ::: = 'i I .s ! ~ ] 1 l ~ '" .:i ;:! ::i ::: ~ - - ~ ~ ] ~ j ~ Page 87 '" ] on .. ,.; N ..; oS . " ~ ~ ~ .. o ~ '" 0. z z = '" ." . on .. ,.; N .,,' oS a ~ H '" .. o ~ '" 0. z z = - i!! ~ ~ ) 1 . '" .51 ~ ~ = :s .. " .~ ~ ~ J! . .. .~ '5 ." '5 o . i " i . ] 'ii U " ;; ~ '" '" -I '" oS ~ . 0. .5 i u '" :~ J! . .~ 5 ." ~ . o . ." . OJ '" ] . ;; ~ ! : . 9 ~ i 3 'Q e '0 .~ .~ ~ :; ~ 5 'it Eo; ..5 l"i ~ .. ~ 30. ..'" 0:E ~ '" 0. ... ;;; = ~ = ~ '" 0. = '" '" ::: '!: ~ = ~ . .~ . ~l 11 ",G .. ~ ,..; ~ ~ . " e H '" !i ~ H '" .. o ~ 30. ..~ ~:E '" 0. <II 0. = ... '" '" = = '" .. ~ ~ ::: :r: ~ .. ~ . Ii if " if ~ ~ ! e <:> . OJ '" . . . Significant Effect: Regional and local wildlife corridors would be impacted. [FPEIR, Volume 2, p. 4.9.4-8 through 4.9.4-9] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations have been required in, or incorporated into, the Project which will substantially lessen significant environmental effr ts as identified in the Final Program EIR. Pursuant to 15091 (a) (3) of the State CEQA Guidelines there are no feasible mitigation measures to reduce impacts to Corridor 5 to below a level of significance. As described in the Statement of Overriding Considerations, the City Council has determined that this impact is acceptable because of specific overriding considerations. Mitigation Measures: The following mitigation measures are feasible and are required as a condition of approval and are binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.4-22 through 4.9.4-24] The project is designed to maintain connectivity of the parcels and adjacent blocks of offsite open space. . Specific mitigation for all corridors shall follow detailed recommendations from the Otay Ranch Wildlife Corridor Study (Ogden 1992b). The following general recommendations apply to all regional and important local wildlife corridors. Preserved wildlife corridors shall be retained as natural open space, contain native vegetation, and be used for only passive recreation. All road underpasses and bridges crossing wildlife corridors shall have natural vegetation underneath and be sufficiently wide to encourage wildlife use. Wildlife corridors through development shall be sufficiently wide to encompass the natural rim to rim topography and allow undisturbed wildlife movement. Incompatible land uses (e.g. high density residential development and roads) shall not be sited adjacent to wildlife corridors, not including the buffer (development within the buffer shall not be allowed). . The following measures shall be implemented for the Otay River parcel: Page 88 Impacts from road construction to the four regional corridors in the Otay River parcel shall be mitigated by road design and realignment following the Wildlife Corridor Study recommendations. Poggi to Wolf Canyon - The potential California gnatcatcher and cactus wren corridor between Poggi and Wolf Canyons shall be restored to native coastal sage scrub vegetation. A natural open space easement through the northeastern corner of the landfill shall be secured. This easement would need to encompass the offsite portion of the corridor and any buffer zones recommended in the corridor study. The Paseo Ranchero Road crossing of this corridor shall be designed according to the Wildlife Corridor Study recommendations. Wolf Canyon to Salt Creek - Otay Valley Road shall be fitted with a 12 foot drainage culvert at Wolf Canyon to allow bobcats to pass underneath. The Rock Mountain Road crossing of the Wolf Canyon to Salt Creek (1) gnatcatcher and wren corridor near the northwest end of the quarry shall follow recommendations of the corridor study. Heritage Road, La Media Road, SR-125, and Aha Road crossings of this corridor along the north slope of the Otay River Valley shall follow the recommendations of the Wildlife Corridor Study. Otay Valley - Heritage Road, La Media Road, SR-125, and Alta Road shall be elevated at Otay River Valley crossings of the Otay River Valley in accordance with the Wildlife Corridor Study recommendations. Major ravines and drainages shall also be bridged to allow for movement of wildlife along the Otay River Valley. O'Neal Canyon - The new Alta Road alignment crossing of Salt Creek shall be bridged to retain a corridor to the Otay River Valley. This alignment shall be shifted west out of O'Neal Canyon and west of the mouth of Salt Creek. If the existing Alta Road crossing of O'Neal Canyon is widened, it shall be fitted with a large underpass and bridges over major ravines to allow movement into the Otay River Valley. The following measures shall be implemented in the Proctor Valley parcel: Corridor Rl - (see Figure 3.3.-7 in the FPEIR) - In the disjunct L- shaped parcel, low density development shall be pulled west out of the ravine and well back on the ridge so that animals may access the ravine, which leads them northwest over the saddle and into the Sweetwater Reservoir. The corridor shall be 1600 feet wide at the Page 89 mouth of this ravine, with at least 500 feet of open space along the southwest side of the mouth of this ravine. In Proctor Valley, the corridor shall widen from 1300 feet at the northwest end to 2200 feet at the southeast end. Development east of Proctor Valley Road shall be pulled back on the south side of the corridor. The K through 6 elementary school may be within the buffer if the playing fields are adjacent to the corridor, there is no lighting ~r activity at night, and appropriate fencing is maintained. Low density development west of Proctor Valley Road shall be moved north out of the corridor. Revegetation and screening from development shall be required in the Proctor Valley portion of the corridor. The Proctor Valley Road crossing shall be bridged (See Wildlife Corridor Study). The corridor follows the deep canyon east of Proctor Valley and shall include rim to rim topography. It is approximately 1600 feet wide. Low density development extending into the canyon on the north side of the corridor shall be pulled back onto the ridgetops. Where delineation of rim to rim topography is not obvious, there shall be 800 feet of width in open space extending up each side of the ravine. Local Corridor 4 - To eliminate impacts by Proctor Valley Road to local Corridor 4, Proctor Valley Road shall be elevated across ravines along its alignment to allow for wildlife movement underneath and into the alternate corridor in the creekbed to the north of Proctor Valley Road. Corridor R2 - Low density and LMV development along the western site of this corridor shall be pulled back to retain rim to rim topography in open space. The corridor is approximately 1600 feet wide throughout the canyon. Low density development on a knoll on the east side of the corridor shall be eliminated as it encroaches into the corridor. At the south end of Corridor R2 near Otay Lakes Road, LMV and MH development shall be pulled back to the east and west respectively, to maintain a minimum width of 1600 feet. At the Otay Lakes Road crossing the corridor may narrow following Wildlife Corridor study recommendation. The proposed park at the south end of the corridor shall be designed at the SPA level so as not to impact the corridor. It shall be sited within the buffer zone (moved east or west) and not relocated within the ravine. The two Otay Lake Road crossings of this corridor shall be bridged as recommended in the Otay Ranch Wildlife Corridor Study. Page 90 The following measures shall be implemented in the San Ysidro parcel: Local Corridor 8 - At the north end of Corridor 8 in the San Ysidro parcel, development shall be eliminated from the canyon southeast of the San Diego Air Sports Center to retain this major local wildlife corridor. Corridor 11 - Development along th, western portion of Little Cedar Canyon shall be pulled back to avoid constraining wildlife movement in Corridor 11. Expansion of Otay Lakes Road shall require a bridge at the Corridor 11 road crossing. Such bridge shall meet the design recommendations of the Wildlife Corridor Study. Corridor 10 - Very low density development along the northern edge of Cedar Canyon in Corridor 10 shall be restricted to the ridgetop. The following mitigation measure is found to be infeasible: Regional Corridor 5 - At the SPA level there shall be no new road alignments or development in natural open space and Special Resource Study Areas within Corridor 5. Regional Corridor 6 - At the north end of Regional Corridor 6, the entire rim-to-rim topography should be included in the corridor and it should be no narrower than 800 feet. Local Corridor 9 should include rim-to-rim topography through development areas. Development should be screened from the view of animals within these corridors. Within the San Ysidro parcel, development should be pulled back from Dulzura Creek at the Otay Lakes Road Crossing and away from the east end of Lower Otay lakes to allow wildlife movement along Dulzura Creek to Otay lake via Corridor 5. Rationale: With regard to the wildlife corridor, the City Council, in approving development in the area known as "South and East of the Lakes," determined that the South County unlike the North County, lacks estate housing opportunities. The area identified for estate housing includes panoramic views, including views of the Otay lakes. The project would impact two of the nine point occurrences in order to allow the development of 518 dwelling units on 783 acres. D. CULTURAL RESOURCES Page 91 Significant Effect: Disturbance of significant prehistoric and historic resources. [FPEIR, Volume 2, p. 4.9.5-8 through 4.9.5-9] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines changes or alterations are required in, or incorporated into, the Project, which will substantially lessen the significant environmental effect as identified in the Final Program EIR. Pursuant to Section 15091 (a) (3) of the State CEQA Guidelines, there are no feasible measures at this level of planning to mitigate impacts below a level of significance. As described in the Statement of Overriding Considerations, however, the City Council has determined that this significant impact is acceptable because of specific overriding considerations. Mitigation Measures: The following mitigation measures are feasible and are required as conditions of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.5-9 through 4.9.5-10] Prehistoric Resources - A programmatic mitigation plan for prehistoric resources shall be prepared. The following plan is a synopsis of a more detailed program presented in the Resource Management Plan (RMP). Stage 1 - In conjunction with the first SPA application within each parcel (Otay Valley, Proctor Valley and San Ysidro) a comprehensive cultural resources study to assess cultural resources throughout that parcel shall be performed. This report shall be a means of gaining comparative information to develop a specific program for mitigation and resource management. This would include a report to be prepared by a qualified consultant to be reviewed and approved by the county, on both the survey and testing programs. Stage 2 requires site importance and boundary testing for each resource identified within the first SPA Plan based on a research design approved by the appropriate jurisdiction, and for a sample of site types within the overall Project. Site testing is required to adequately assess the sites for their importance under CEQA and local guidelines. A sample of site types beyond the SPA Plan area shall be tested as a means of gaining comparative information and to develop a specific program for mitigation and resource management. This requires a report to be prepared by a qualified consultant to be reviewed and approved by the appropriate jurisdiction on both the survey and testing programs. . Stage 3 Following completion of site importance evaluation, those sites that are found to be non-unique, non-significant, and without demonstrated importance will require no further analysis or assessment. As mandated by CEQA, mitigation will have been achieved by recordation, testing, and Page 92 submittal of the testing report. For those sites that are determined to be important resources, alternate means of achieving mitigation can be pursued. In general, these forms of mitigation include: Site Avoidance. For prehistoric resources, sites with human burials, areas that contain rock art (petroglyphs and pictographs), rock shrines, and other rock or stone architectural features shall be preserved and protected. Any impact to these resources shall be avoidd. Additionally, sites that may contain particular religious or sacred importance to Native American people will require avoidance and protection measures to ensure that the sites are not destroyed or degraded. For historic resources, intact standing structures and buildings that are found to be significant as determined by the appropriate jurisdiction shall be preserved in place, and to the extent possible, subjected to minor alterations in the immediate setting and character. In some cases (as determined by the appropriate jurisdiction) architectural features such as walls, flumes, or other permanent elements of the built and altered environment may require in place preservation and protection. For resources requiring avoidance it must be clearly demonstrated that a site will, in fact, be avoided by all Project activities such that no possible adverse impacts, direct or indirect, could occur. The determination as to adequacy is made by the lead agency as part of the environmental review performed on each SPA plan. Specific avoidance measures may include either the location of sites in currently proposed open space areas, or in particular instances, even more specific Project design to avoid the resource by maintaining it in a dedicated open space. Site Avoidance/Preservation. Design measures can include capping of sites with sterile fill soil and/or placing restrictions on access and usage of individual parcels as well as public parks and public open spaces. A preservation plan must be prepared for those sites that are determined to be significant as defined in Appendix K of the CEQA Guidelines. Data Recovery. For those sites that are found to be important resources and for which avoidance and preservation is not feasible or appropriate, a data recovery plan shall be prepared. The plan, while it may be part of a much larger program for several sites under study, shall be site specific. The plan shall, at a minimum, include the following: Page 93 . A statement of why data recovery is appropriate as a mitigating measure. . A research plan that explicitly provides the research questions that can reasonably be expected to be addressed by excavation and analysis of the site. The research plan may deviate from the suggested research questions provided by the County of San Diego but if this is the case, the rational for rejecting certain research questions should be provided and more relevant questions posed. . A statement of the types and kinds of data that can reasonably be expected to exist at the site (based on the Phase 1 testing) and how these data will be used to answer important research questions. . A step-by-step discussion of field and laboratory methods to be employed. This will include the sampling strategy, methods of excavation and recovery of materials for special studies, and laboratory techniques for the analysis and interpretation of the materials. . All artifacts shall become public property. Provisions for curation and storage of the artifacts, notes, and photographs in the interpretative center shall be stated. A memorandum of agreement shall be prepared to formalize the curation policy. . Additionally, for the onsite presentation and interpretation of the results of the archaeological studies at an interpretive center or museum shall be required. This shall be accomplished through adaptive reuse of one of the historic structures within the Project or through construction of a building within one of the parks or community centers. Historic Resources - Mitigation measures for historic resources are essentially the same as for prehistoric resources as described above. The same steps and stages should be followed although, as described in the RMP, archival research and historical documentation shall be used to augment field testing programs. Mitigation of impacts to historic resources through preservation may be more feasible for historic sites than for prehistoric sites because they generally comprise a smaller area and can often be synthesized into a development plan. Adaptive reuse of standing historic structures shall be required where feasible, and preservation plans to ensure long term viability of the structures shall be required. Page 94 If in situ preservation is not possible, recovery of all possible information, both surface and subsurface, is the only other acceptable alternative. The data recovery program will be integrated with a corresponding archival research program to fully assess the significance of the material found on the sites. By creating a complementary research program that fully incorporates the archival material with the field results, many important research questions can be addressed. Prehistoric/Historic Resources - Mitigation measures for prehistoric/historic resources are essentially the same as for prehistoric and historic resources as described above. The same steps and stages should be followed although, as described in the RMP, archival research and historical documentation may be used to augment field testing programs. If in situ preservation is not possible, recovery of a representative amount or sample of information, both surface and subsurface, is the only other acceptable alternative. For historic components, the data recovery program shall be integrated with a corresponding archival research program to fully assess the significance of the material found on the sites. By creating a complementary research program that fully incorporates the archival material with the field results, many important research questions can be addressed. The following mitigation measure is found to be infeasible: Stage 1 of the comprehensive mitigation plan will be to complete the intensive, systematic survey of the remaining 17,000 acres in compliance with the county's requirements. The Lead Agency shall direct a survey of the remaining portion of the Otay Ranch that shall be prepared as soon as feasible with the first SPA being completed no later than filing of the first SPA Plan application. Rationale: Surveying the entire parcel is an extremely expensive process. Additionally, such surveys may have short "shelf lives" if state of the art techniques are developed. For example, if surveys of the San Ysidro parcel are required at the time development begins on the Otay River parcel, years could pass before development actually begins on the San Ysidro parcel. By the time development began, additional surveys and/or techniques could be required, rendering the earlier studies irrelevant. It is more logical to require incremental surveys linked to the development of the first SPA within each parcel, than to require a survey of the whole project site. E. GEOLOGY AND SOILS Page 95 Significant Effect: Geology impacts include slope instability, development proposed on metavolcanic bedrock, and seismic hazards. Soils impacts include expansive soils, erosion, and liquefaction. [FPEIR, Volume 2, p. 4.9.6-1] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final EIR. The potential geologic and soils impacts identified in the Final EIR are mitigated to below a level of significance with the incorporation of the following site-specific mitigation measures into the design and construction of the Project. Mitigation Measures: The following mitigation measures are feasible and are required as a condition of approval and are made binding on the Applicant through these Findings. . At the tentative map level, site-specific geotechnical studies based on proposed development plans shall be conducted prior to construction to specifically evaluate soil conditions and characteristics, areas of potential slope instability, landslides, faults, liquefaction, and rippability characteristics. The studies shall be conducted by a qualified geotechnical engineer for the Project Applicant and shall meet the engineering standards of the appropriate jurisdiction. [FPEIR, Volume 2, p. 4.9.6-1] Impacts related to slope instability shall be mitigated by site-specific geotechnical static and pseudo-static slope stability analyses conducted prior to submittal of tentative maps that will provide input relative to appropriate slope design alternatives. These mitigation measures shall include benching, adjusting heights and inclinations of proposed cut and fill slopes, retaining walls, slope protection, and/or erosion control devices. Significant impacts due to ground rupture shall be avoided by not building directly over the fault trace. A site-specific geotechnical study would be necessary at the tentative map level to identify specific fault locations and delineate fault setback zones (as necessary) in accordance with city and county guidelines. Potential damage from seismic ground shaking shall be mitigated by adhering to the Uniform Building Code, state-of-the-art seismic design parameters of the Structural Engineering Association of California (SEAOC), and applicable local building codes. Such seismic design suggests assuming a design ground acceleration that is equal to two-thirds of the maximum anticipated bedrock acceleration. The design acceleration for the Otay Ranch area is 0.18g. The seismic design parameters, provided as a result of a site-specific geotechnical Page 96 study, shall be utilized by a qualified structural engineer in the design and construction of the Project. A qualified geotechnical engineering consultant shall perform an investigation of the site to evaluate the liquefaction potential upon submittal of tentative maps. Where potential for liquefaction is determined to be moderate to high (such as in major tributary canyon bottoms), mitigation measures shall include removal and recompaction of loose, unconsolidated soils, vibrofloatation, or dynamic compaction techniques. Landslide impacts shall be mitigated based upon site-specific geotechnical studies on all tentative maps submitted for the Project to delineate the limits of slides (i.e., head and toe). Landslides which may potentially impact developed areas shall be completely removed or buttressed during site grading. However, basal erosion of the slopes shall be avoided. Oversaturation and subsequent loading of the soils and sediments (from lawns, etc.) shall be avoided. . At the tentative map level, onsite soils shall be investigated by a qualified geotechnical consultant to evaluate the potential for significant impacts due to erosion and expansion. Appropriate mitigation measures, such as those provided below, shall be incorporated into the Project design. Erosion - Erosion shall be minimized through erosion control measures. During the construction phase, interim measures such as covering exposed graded slopes with visqueen and sandbagging at slope toes shall be implemented. During the operational phase, measures including maintenance of drought tolerant vegetative cover and vegetated buffer zones and appropriate drainage control devices shall be employed. Expansive Soils - Problems related to expansive (shrink-swell) soils shall be mitigated by selective grading and specially designed foundations in compliance with the Uniform Building Code (UBC). F. PALEONTOLOGICAL RESOURCES Significant Effect: Disturbance of paleontological resources. [FPEIR, Volume 2, p.4.9.7-1] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines changes or alterations are required in, or incorporated into, the Project which will avoid any significant environmental effect as identified in the Final Program EIR. Page 97 Implementation of the proposed mitigation measures would reduce impacts to below a level of significance. Mitigation Measures: The following mitigation measures are feasible and are required as conditions of approval and are made binding on the Applicant through these findings. As indicated in the Otay Ranch Resource Management Plan Polices, all mitigation work shall be done by a qualified professional paleontologist with a working knowledge of the Chula Vista/Otay Mesa area. [FPEIR, V..lume 2, p. 4.9.7-1] Prior to issuance of development permits, the Applicant shall confirm to the City of Chula Vista or the County of San Diego that a qualified paleontologist has been retained to carry out an appropriate mitigation program. (A qualified paleontologist is defined as an individual with a M.S. or Ph.D. in paleontology or geology who is familiar with paleontological procedures and techniques.) A pre-grade meeting shall be held amongst the paleontologist and the grading and excavation contractors. A paleontological monitor shall be onsite at all times during the original cutting of previously undisturbed sediments of highly sensitive geologic formations (i.e., San Diego, Otay, and Sweetwater formations) to inspect cuts for contained fossils. (A paleontological monitor is defined as an individual who has experience in the collection and salvage of fossil materials.) The paleontological monitor shall work under the direction of a qualified paleontologist. The monitor shall be onsite on at least a half-time basis during the original cutting of previously undisturbed sediments of moderately sensitive geologic formations (Le., unnamed river terrace deposits and the Mission Valley Formation) to inspect cuts for contained fossils. The monitor shall be onsite on at least a quarter-time basis during the original cutting of previously undisturbed sediments of low sensitivity geologic formations (i.e., Lindavista Formation and Santiago Peak Volcanics [metasedimentary portion only]) to inspect cuts for contained fossils. He or she shall periodically (every several weeks) inspect original cuts in deposits with an unknown resource sensitivity (Le., Quaternary alluvium). In the event that fossils are discovered in unknown, low, or moderately sensitive formations, the Planning Department of the appropriate jurisdiction shall increase the per-day field monitoring time. Conversely, if fossils are not discovered, the monitoring, at the discretion of the Planning Department, shall be reduced. A paleontological monitor is not needed during grading of rocks with no resource sensitivity (i.e., Santiago Peak Volcanics, metavolcanic portion). Page 98 When fossils are discovered, the paleontologist (or paleontological monitor) shall recover them. In most cases, this fossil salvage can be completed in a short period of time. However, some fossil specimens (such as a complete whale skeleton) may require an extended salvage time. In these instances, the paleontologist (or paleontological monitor) shall be allowed to temporarily direct, divert, or halt grading to allow recovery of fossil remains in a timely manner. Because of the potential for the recovery of small fossil remains such as isolated mammal teeth, it may be necessary in certain instances and at the discretion of the Planning Department of the appropriate jurisdiction to set up a screen-washing operation on the site. . Prepared fossils along with copies of all pertinent field notes, photos, and maps shall be deposited in a scientific institution with paleontological collections such as the San Diego Natural History Museum. A final summary report shall be completed which outlines the results of the mitigation program. This report shall include discussions of the methods used, stratigraphy exposed, fossils collected, and significance of recovered fossils. . Impacts to areas not planned for mass excavation operations (i.e., open space and parklands) shall be mitigated by setting aside certain portions of these areas as paleontological/geological preserves. Such areas might include the small north-south canyon just east of Rock Mountain on the north side of the Otay River Valley, the mesa surface between Johnson and O'Neal canyons on the south side of the Otay River Valley, the small canyon just west of where the ranch road crosses Poggi Canyon, and the ridge top northeast of the mouth of Little Cedar Canyon. These areas shall serve as both educational and scientific resources for future generations. G. AGRICULTURAL RESOURCES Significant Effect: Conversion of prime farmlands and elimination of existing crop production. [FPEIR, Volume 2, p. 4.9.8-1 through p. 4.9.8-2] Finding: Pursuant to section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will substantially lessen the significant environmental effects as identified in the final EIR. However, the impacts are significant and unrnitigable. Pursuant to Section 15091 (a) (3) of the State CEQA Guidelines, there are no feasible measures that would mitigate the impact below a level of significance. As described in the Statement of Overriding Considerations, however, the City Council has determined that this significant impact is acceptable because of specific overriding considerations. Page 99 Mitigation Measures: The following mitigation measures are feasible and are required as conditions of approval and are made binding on the Applicant through these Findings. In the Otay River parcel near the proposed composting facilities and Bird Ranch where prime soils are located, a demonstration agricultural area shall be set aside. Schools proposed within the Otay Ranch property shall be allowed to promote educational activities in regard to agriculture through the use of the demonstration agricultural area. A possible location for the demonstration area would be in the southwest portion of the Otay River parcel. This area is considered suitable since it contains prime agricultural soils and is designated as a regional park in the Project. Development of this area shall be within the proposed park. The size and exact location of the demonstration agricultural area shall be determined at the SPA level. The criteria to establish the demonstration agricultural activities shall include the following: 1) the demonstration area must be located within an area of the park containing prime farmland soils, and 2) its location shall not conflict with sensitive biological or cultural resources. . Agricultural activity and the keeping of animals shall be allowed within the large, low density lots planned along the northern edge of the Proctor Valley parcel, as allowed within the Jamul-Dulzura Subregional Plan. Development plans for this area shall contain landscaping and buffering requirements designed to prevent nuisance impacts related to noise and odor, from occurring between adjacent internal residential uses. . . . Significant Effect: Inconsistency with existing County of San Diego and City of Chula Vista plans and policies and State policies. [FPEIR, Volume 2, p. 4.9.8-3] Finding: According to state, county, and City of Chula Vista policies and goals, the loss of an agricultural resource for the potential production of coastal dependent crops and the loss of prime agricultural soils is considered to be a significant, unmitigable impact. Pursuant to section 15091 (a) (1) of the State CEQA Guidelines, changes, or alterations are required in or incorporated into, the Project which will substantially lessen the significant environmental impact as identified in the Final EIR. Pursuant to Section 15091 (a) (3) of the State CEQA Guidelines, there are no feasible measures that would mitigate the impact below a level of significance. As described in the Statement of Overriding Considerations, however, the City Council has determined that this significant impact is acceptable because of specific overriding benefits. Page 100 Mitigation Measures: The following mitigation measures are found to be feasible and are required as conditions of approval and are made binding on the Applicant through these Findings. . An Agricultural Plan shall be prepared by the Project Applicant prior to approval of any SPA Plans affecting onsite agricultural resources and shall be required for each subsequent development proposal (i.e., villages, Town Center, the Eastern Town Center, and the Rural Estate Planned Community). The Plan shall indicate the type of agricultural activity allowed as an interim use. Specifications shall include buffering guidelines designed to prevent potential land use interface impacts related to noise, odors, dust, insects, rodents, and chemicals that may accompany agricultural activities and operations. Adequate buffering shall be provided between the proposed development area and the interim agricultural use. Buffering measures shall include: 1) a 200-foot distance between property boundaries and agricultural operations; 2) if permitted interim agricultural uses require the use of pesticide, then limits shall be set as to the time of day and the type of pesticide application that may occur; 3) use of vegetation along the field edges adjacent to development that can be used for shielding (i.e., corn); and 4) notification of adjacent property owners of potential pesticide applications and use of fencing. The plan shall be reviewed by the city or county planning department that has jurisdiction over these areas to verify that the proposed plan is adequate to prevent significant interface impacts from occurring. . . . Significant Effect: Land use interface impacts associated with agricultural activities and urban uses. [FPEIR, Volume 2, p. 4.9.8-2] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations have been required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final EIR. The mitigation measures described below will reduce impacts to below a level of significance. Mitigation Measures: The following mitigation measures are found to be feasible and are required as conditions of approval and are made binding on the Applicant through these Findings. Landscaping and buffering guidelines shall be included in the development plans at the SPA plan level for the areas planned adjacent to existing agricultural uses. These areas include the eastern edges of the Proctor Valley parcel and the northern edges of the San Y sidro parcel where estate residential uses would be developed near the Daley Ranch agricultural Page 101 activities (Le., crop cultivation and cattle ranging). [FPEIR, Volume 2, p. 4.9.8-4] H. MINERAL RESOURCES Significant Effect: Potential. loss of mineral resources of economic value due to development or land use conflict. [FPEIR, Volume 2, p. 4.9.9-1] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will substantially lessen the significant environmental effect as identified in the Final Program EIR. The phasing of development on Rock Mountain and on the San Ysidro and Proctor Valley parcels to allow for the extraction of mineral resources before construction would effectively mitigate impacts to mineral resources. However, it is not possible to evaluate the feasibility of this measure at this time, rather evaluation of the feasibility must occur at the time the area is proposed for a SPA plan. Should these measures not be feasible pursuant to Section 15091 (a) (3) of the State Guidelines, the impact to mineral resources would be significant and unmitigable. As described in the Statement of Overriding Considerations, however, the City Council has determined that this significant impact is acceptable because of specific overriding considerations. Mitigation Measures: The following mitigation measures are found to be feasible and are required as conditions of approval and are made binding of the Applicant through these findings. . Compatible land uses shall be developed near the locations of future mineral extraction activities. If feasible, Project phasing shall allow for the extraction of mineral resources at Rock Mountain, the Nelson and Sloan quarry and the Daley quarry before conflicting development occurs. The following mitigation measures are found to be infeasible: . Rock Mountain shall be placed in a mineral extractive overlay designation or an RCA in accordance with the policies of the Mineral Resources Management Plan and mineral extraction shall be designated as the primary use. . Development of the Proctor Valley and San Ysidro parcels shall be phased to allow for mineral extraction if the County's Mineral Resources Element determines that significant mineral resources are present on these parcels and if such phasing is feasible. [FPEIR, Volume 2, p. 4.9.9-1] Page 102 Rationale: The County never adopted a Mineral Resource Management Plan or a Mineral Resources Element; consequently, there is no plan or element to comply with. I. WATER RESOURCES AND WATER OUALITY Significant Effect: Increases in surface water runoff due to an increase in impervious surfaces could increase potential for downstream flooding, cause potential safety impacts, and increase erosion and siltation. [FPEIR, Volume 2, p. 4.9.10-1] Findings: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final EIR. Ground-water and surface water impacts would be mitigated to a level below significance with implementation of the proposed mitigation measures at the SPA and Project design levels of review. Mitigation Measures: The following mitigation measures are feasible and are required as a condition of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.10-1] . The Applicant for the first SPA shall prepare a comprehensive drainage infrastructure plan for the drainage basin as defined by the appropriate jurisdiction. The master drainage plans for each drainage basin shall be developed with the first SPA within each drainage basin. The specific master drainage plans shall include drainage infrastructure, staging/development detail, timing, financing, and responsibility for drainage impacts. The master drainage plans shall comply with Title 44 Code of Federal Regulations in regard to development on floodplains. In addition, the master drainage plans shall comply with County of San Diego protection ordinances regarding the floodway and floodplain fringe wetlands or with Chula Vista ordinances. Any channel improvements on a watershed greater than one (1) square mile shall comply with Section 404 of the Clean Water Act. The impacts associated with inundation shall be quantified by hydrologic and hydraulic studies by a qualified hydrologist for the Project Applicant at the SPA Plan level when a detailed development plan is available. The hydraulic studies shall demonstrate that the Project design meets Title 44 of Federal Regulations and the County of San Diego and City of Chula Vista floodplain encroachment and engineering standards contained in the appropriate ordinances of each jurisdiction. The recommendations of these studies shall be implemented in order to mitigate impacts. The studies shall include: Page 103 A detailed site-specific floodplainjfloodway width study shall be completed at the tentative map stage to ensure that encroachment of the floodway is avoided. The floodplain fringe may be developed in certain areas if a retaining structure (e.g., dike, etc.) is built at the floodway boundary. Under the supervision of the Public Works Department of the appropriate agency, the Applicant shall conduct a detailed design study for each bridge and culvert. All proposed bridges and culverts shall :Je designed and constructed for the 100-year flood without causing backwater effects or hydraulic conditions that would lead to significant scouring or erosion of embankments. . The Otay Ranch development shall not increase existing 100-year flood flows above natural conditions unless downstream structures can accommodate the increase in total discharge, peak discharge, and increased velocities, or the Applicant constructs required detention basins to prevent adverse impacts. At the SPA plan level, the impacts associated with change in water velocities shall be addressed by detailed hydrologic and hydraulic studies prepared by a qualified hydrologist. These studies shall discuss erosion and sedimentation of the Project development and specifically how these impacts shall be avoided through design features in accordance with Title 44 Federal Regulations and City of Chula Vista and County of San Diego erosion control standards. The recommendations of these studies shall be implemented. The Applicant shall protect all embankments and slopes within the floodplain to prevent erosion. Energy dissipation devices shall be necessary at the confluences of the storm drainage system and the natural channels to prevent erosion. Siltation basins shall be necessary at locations where the runoff velocity drastically decreases. Potential water quality problems shall be mitigated by implementing the plans provided in the Urban Runoff/Reservoir Study. These plans include a dry weather system to collect all dry weather urban runoff, spills, and approximately 25 percent of rain runoff (the first flush). The first flush would contain a large majority of the urban pollutants. The Project plans shall also include a water monitoring program to check the effectiveness of the system. As indicated in Table 3.9-5 of the Final Program EIR, the salt modeling by Wilson Engineering shows that this procedure would be effective in reducing urban pollution to a level similar to existing conditions prior to urbanization. This level shall meet the Primary Drinking Water standards, which would in Page 104 turn maintain quality for the beneficial uses of the lake, including recreation and fisheries. All systems shall be designed so that in the case of pipe failure the effluent is adequately captured. The Applicant shall create buffer zones around the lakes. The buffer zones shall take into account the predicted volume of runoff, predicted pollutant concentrations, and appropriate vegetation type. The Applicant must comply with all applicable regulations established by the United States Environmental Protection Agency as set forth in the National Pollutant Discharge Elimination System (NPDES) permit requirements for urban runoff and stormwater discharge and any regulations adopted by the City of Chula Vista or County of San Diego pursuant thereto. The City of Chula Vista and County of San Diego have a Municipal Permit from the State Regional Water Quality Control Board (RWCQB) for stormwater discharge. In order to be covered under a Municipal Permit, Order No. 90-42, NPDES No. CA0108758, the developed area shall be required to mitigate impacts to stormwater quality. Further measures that are more strict than the permit standards, however, shall be imposed if necessary to reduce the impact below a level of significance after appropriate site specific studies at the SPA level. In addition, RWQCB has issued one general permit that applies to construction activity. In order to be covered under the Construction General Permit, a Notice of Intent (NO!) must be filed with the RWQCB. Compliance with the Permit requires that a stormwater pollution prevention plan be prepared and implemented for the Project. Best management practices, design, treatment, and monitoring for stormwater quality must be addressed with respect to Municipal and Construction Permits. Detailed stormwater quality studies shall be conducted by a qualified hydrologic engineer at the SPA Plan level to develop appropriate mitigations that protect the quality of both the Otay Reservoirs and the remaining waterways. The stormwater quality studies shall demonstrate that no degradation of water quality will occur. Potential significant decreases in recharge to the aquifer system shall be mitigated by utilizing unlined natural channels and unlined siltation basins. Prior to SPA plan approval, a study shall be prepared by a qualified hydrogeologic engineer. Such study shall address the issues of manmade recharge systems. The study shall identify the appropriate recommendations to be implemented during Project buildout in order to mitigate possible aquifer recharge impacts. The study shall demonstrate that the City of Chula Vista or County of San Diego standards on aquifer recharge shall be achieved. Page 105 . . . Significant Effect: Development may encroach into the 100-year floodplain. [FPEIR, Volume 2, p. 4.9.10-1] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final Program EIR. The following mitigation measures would reduce impacts to below a level of significance. Mitigation Measures: The following mitigation measures are found to be feasible and are required as a condition of approval and are made binding on the Applicant through these findings. [FPEIR, Volume 2, p. 4.9.10-1] The development of permanent structures for human habitation or as a place of work shall not be permitted in a floodway. Use permitted in a floodway shall be limited to agricultural, recreational, and other such low-intensity uses provided, however, that no use shall be permitted which will substantially harm the environmental values of a particular floodway area. Mineral resources extraction shall be permitted subject to any necessary approvals, provided that mitigation measures are required which produce any net gain in the functional wetlands and Riparian habitat. . Modifications to the floodway shall meet all of the following criteria: a. Concrete or rip-rap flood control channels are allowed only where findings are made that completion of the channel is necessary to protect existing buildings from a current flooding problem. Buildings constructed after the enactment of the Resource Protection Ordinance shall not be the basis for permitting such channels. b. Modification will not unduly accelerate the velocity of water so as to create a condition which would increase erosion (and related downstream sedimentation) or would be detrimental to the health and safety of persons or property or adversely affect wetlands or riparian habitat. c. In high velocity streams where it is necessary to protect existing housing and other structures to minimize stream scour or avoid an increase in the transport of stream sediment to downstream wetlands and other environmentally sensitive habitat areas, grade control structures and other erosion control techniques, including the use of rip-rap, that are designed to be compatible with the environmental Page 106 setting of the river, may be permitted. The use of rip-rap shall be allowed only when there is no other less environmentally damaging alternative feasible. All uses permitted by zoning and those that are allowable in the floodway area allowable in the floodplain fringe, when the following criteria are met: a. Fill shall be limit",] to that necessary to elevate the structure above the elevation of the floodway and to permit minimal functional use of the structure (e.g., fill for access ramps and drainage). If fill is placed in the floodplain fringe, the new bank of the stream shall be landscaped to blend with the natural vegetation of the stream and enhance the natural edge of the stream. b. Any development below the elevation of the 100-year flood shall be capable of withstanding periodic flooding. c. The design of the development shall incorporate the findings and recommendation of a site-specific hydrologic study to assure that the development: (1) will not cause significant adverse water resource impacts related to quality or quantity of flow or increase in peak flow to downstream wetlands, lagoons and other sensitive habitat lands; and (2) neither significantly increases nor contributes to downstream bank erosion and sedimentation of wetlands, lagoons or other sensitive habitat lands. d. Lot configuration shall be designed in such a manner as to minimize encroachment into the floodplain. The proposed development shall be set back from the floodway boundary a distance equal to 15 percent of the floodway width (but not to exceed one hundred feet), in order to leave an appropriate buffer area adjacent to the floodway. The setback may be greater if required by paragraph f. Following review of a site specific flood analysis, the floodplain setback required by this paragraph may be reduced by the Director of Planning of the appropriate jurisdiction or the applicable hearing body, upon making all of the following findings: 1. Practical difficulties, unnecessary hardship, or results inconsistent with the general purposes of this ordinance would result from application of the setback; and 2. The reduction in setback will not increase flood-flows siltation and/or erosion, or reduce long-term protection of the floodway, Page 107 to a greater extent than if the required setback were maintained; and 3. The reduction in setback will not have the effect of granting a special privilege not shared by other property in the same vicinity; and 4. The reduction in setback will not be materially detrimental to the public health, safety, or welfare, or injurious to the property or improvement in the vicinity in which the property is located; and 5. The reduction in setback will not be incompatible with the General Plan of the appropriate jurisdiction. e. Where appropriate, flowage and/or open space easements shall be used to ensure future development will not occur in the floodplain. f. In areas where the Director of Public Works has determined that the potential for erosion or sedimentation in the floodplain is significant, all proposed development shall be set back from the floodway so that it is outside the Erosion/Sedimentation Hazard Area shown on County/City Floodplain Maps. Development will only be allowed in the Erosion/Sedimentation Hazard Area when the Director of Public Works of the appropriate jurisdiction approves a special study demonstrating that adequate protection can be achieved in a manner that is compatible with the natural characteristics of the floodplain. g. If the subject floodplain fringe land also constitutes wetlands, wetland buffer areas, steep slope lands, sensitive habitat lands or significant prehistoric or historic site lands, the use restrictions herein applicable to such areas shall also apply. . . . Significant Effect: Potential increase in contaminant concentrations in Lower Otay Lake due to conversion of undeveloped land to urban uses. [FPEIR, Volume 2, p. 4.9.10-1] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations have been required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final Program EIR. The following mitigation measures would reduce impacts to below a level of significance. Page 108 Mitigation Measures: The following mitigation measures are feasible and are required as a condition of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.10-1] . An Urban Runoff Master Plan shall be prepared for Otay Lakes by a qualified hydrologic engineer for the Project prior to or concurrent with the first SPA Plan in a drainage basin affecting Otay Lake. The Master Plan shall determine that the existing water quality at the outflow of the water filtration plant will, at a minimum, be maintained. The Master Plan shall address and/or include analysis of the following issues: Existing Water Quality + Water in Lower Otay Lake + Outflow from Lower Otay Lake + Inflow to Lower Otay Lake Drainage Basin Characteristics (Otay Ranch) + Existing + Proposed Water Quality/Quantity + Establishment of water quality needs for potable supply, fisheries, and recreation + Runoff quality goals + Runoff quantity goals + Mitigation of runoff quality and quantity Evaluation of Alternative Urban Runoff System + Alternative systems + Recommended system Page 109 + Phasing of recommended system + Non-structural controls and watershed protection programs + Spill Management (Spill Management is to include the location of all sewer mains, sewer force mains, and sewer pump stations ungradient of the urban runoff interceptor trenches.) Capital Financing Plan . + Estimated cost by phase + Financing methods + Recommended financing mechanism + Agreement and financing plans for operations and maintenance of water management program The Master Plan may allow for development of sub-plans within each basin if the following conditions are met: The basins are identified in the Master Plan. All sub-plans conform to the Master Plan and are prepared and adopted concurrently with the first SPA Plan in any given basin. In addition, urban runoff and surface water quality shall be specifically addressed in each SPA Plan. At the SPA Plan level, detailed water quality analysis shall be performed and appropriate mitigation measures developed. Amounts of urban runoff loading shall be estimated for metals, herbicides, pesticides, fuels, and surfacants. Best management practices (BMPs) shall be designated and implemented at the SPA Plan level in order to reduce the quantity and improve the potential quality of surface water runoff. EIRs at the SPA level shall include analysis of specific BMPs in the categories of reduced pollutant generation, reduced pollutant transport, and treatment of polluted runoff. Specific BMPs that shall be considered at the SPA level include: Mitigations to reduce impervious surfaces such as grassed swales, filter strips, constructed wetlands, detention ponds, infiltration trenches/basins, replacement of concrete with permeable surface, and use of natural channels where possible, Page 110 Mitigations to reduce or prevent pesticide contamination impacts such as Integrated Pest Management, non-use of pesticides along roadways, use of only EP A-approved chemicals and plan of pesticide use around upcoming precipitation events. . With the first SPA plan in any given basin, a Watershed Impact and Protection Report shall be developed and implemented for each drainage basin. The impact of 25 percent of the runoff being diverted from the Otay Lakes will be avoided because increased runoff due to impermeable surfaces will substantially offset the lost surface water. The following mitigation measure is rejected as infeasible: . If more water is needed to offset surface water losses, routing of more water from the County Water Authority shall be required. Rationale: The decision to route more water from the County Water Authority is not a decision within the jurisdiction of either the City or the County. Additionally, the adoption of other mitigation measures (set forth above) will assure that the identified impact is reduced to below a level below significance. J. TRANSPORTATION. CIRCULATION. AND ACCESS Significant Effects: Impacts to the road network in the South Bay, including proposed SR-125. [FPEIR, Volume 2, p. 4.9.11-1, p. 4.9.11-4 and 4.9.11-13] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations have been required in, or incorporated into, the Project which will avoid significant project generated environmental effects as identified in the Final Program EIR. Mitigation Measures: The following mitigation measure are feasible and are required as a condition of approval and are made binding on the Applicant through these Findings. At the SPA level, a traffic analysis shall be conducted within the study area of the proposed SPA to identify additional transportation mitigation measures for the construction of new roads, bridges and roadway improvements, and shall implement transportation demand/system management programs and/ or facilities or other measures necessary to mitigate traffic impacts on circulation element roads. The standard to be achieved requires that the Project avoid reduction in the existing level of service below "C' with the exception that Page 111 LOS "D" may occur on signalized arterial segments for a period not to exceed a total of two hours per day. If the existing level of service is below "C", mitigation measures to achieve level of service "C" (with the exception that level of service "D" will be allowed on signalized arterial segments for a period not to exceed a total of two hours per day) must be imposed as conditions of approval for the SPA. Internal village streets/roads are not expected tomeet these standards. The Applicant shall adhere to the following guidelines: Arterial segment LOS measurements shall be for the average weekday peak hours, excluding seasonal and special circumstance variations. Urban and suburban arterials are defined as surface highways having signal spacing of less than two miles with average weekday traffic volumes greater than 10,000 vehicles per day. Arterial segments are stratified into three classifications: + Class I arterials are roadways where free flow traffic speeds range between 35 mph and 45 mph and the number of signalized intersections per mile is less than four (4). There is no parking and there is generally no access to abutting property. + Class II arterials are roadways where free flow traffic speeds range between 30 mph and 35 mph, the number of signalized intersections per mile range between four (4) and eight (8). There is some parking and access to abutting properties which is limited. + Class III arterials are roadways where free flow traffic speeds range between 25 mph and 35 mph, and the number of signalized intersections per mile are closely spaced. There is substantial parking and access to abutting property which is unrestricted. The LOS measurement of arterial segments and freeway ramps shall be a growth management consideration in situations where proposed developments have significant impact at interchanges. Circulation improvements should be implemented prior to anticipated deterioration of LOS below established standards. The criteria for calculating arterial LOS and defining arterial lengths and classifications shall follow the procedures detailed in Chapter 11 Page 112 of the 1985 Highway Capacity Manual (HCM) and shall be confirmed by the City or County Traffic Engineer, as appropriate. During the preparation of future Traffic Monitoring Program field surveys, intersections experiencing significant delays will be identified. The information generated by the field surveys will be used to determine possible signal timing changes, geometric and/or traffic operational improvements for the purpose of reducing intersection delay. Level of Service values for arterial segments shall be based on the following table: Table I Level of Service Average Travel Speed (mph) Class 1 Class 2 Class 3 A 2.35 2.30 2.25 B 2.28 2.24 2.19 C 2.22 2.18 2.13 D 2.17 2.14 2.9 E 2.13 2.10 2.7 F <13 <10 < 7 Source: Highway Capacity Manual, Special Report 209, Transportation Research Board, National Research Council, Washington, D.C., 1985. To the extent that Otay Ranch contributes to the need for a facility outside of its boundaries, the Project shall contribute (at the level at which it impacts the facility) to the mitigation of the impact by participating in impact fee programs or other means identified at the SPA or tentative map level. . Applicants on the Otay Valley Parcel shall contribute their "fair share" to the capital and operating costs associated with the new transit system. This shall be done through provisions in facility financing plans at the SPA level. Further, benefit assessment districts shall be established to fund new transit routes under MTDB Board policy No. 40 Non-Transit Funding of Transit Services. (This final requirement cannot be mandated because the Lead Agency cannot mandate MTDB to take this action; because this finding is not within the jurisdiction of the Lead Agency it should interpreted as a mandate for the Applicant to work with MTDB.) Page 113 . . . Significant Effects: Impacts to road segments and intersections due to increase in traffic associated with Otay Ranch. [FPEIR, Volume 2, p. 4.9.11-1 through p. 4.9.11-49.11-27] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated intL, the Project which will avoid significant environmental effects as identified in the Final Program EIR. Mitigation Measures: The following mitigation measures are found to be feasible and are required as a condition of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.11-13 through 4.9.11-22 and Phase II Progress Plan with Village Design and TDM Assumptions Technical Analysis prepared by JHK and Associates, February, 1993] General Mitigation Measures The Applicant shall participate in fair share funding and implementation of the following general mitigation measures: Prepare Transportation Demand Management (TDM) Mitigation Strategies (See Attachment A: SANDAG Report ''Trip Making in Traditional San Diego Communities", February, 1993) Prepare Transportation Phasing Plans Provide Parallel Arterial System Improve Mode Split Increase Local/Regional Trip Capture Update General Plans Re\:ional Freeway System Miti\:ation Increase Freeway Capacities Arterial Segment Mitigation Increase Segment Capacities Arterial Intersection Mitigation Page 114 Increase Intersection Capacities Other Mitigation Strategies Implement Transportation System Management Strategies Implement Traffic Control Strategies . For each SPA, the Applicant shall prepare a detailed analysis of peak hour turning movement volumes and intersection capacity for all major affected intersections as determined by the traffic engineer representing the reviewing jurisdiction or agency. (At a minimum these study area intersections include all intersections with entering volumes in excess of 65,000 vehicles per day under the proposed land use plan.) This analysis will define the mitigation measures necessary to achieve levels of service described above. If the proposed land use plan has not been evaluated by the SANDAG model, or, if the SANDAG model has been substantially modified, (i.e., updated land use and/or network assumptions), then updated modeling of the SPA project shall be required to allow the completion of detailed peak hour analyses. The Applicant shall construct as a condition of approval to the SPA, new roads, bridges and roadway improvements, and shall implement transportation demand/system management programs and/or facilities, or other measures necessary to fully mitigate traffic impacts (related to traffic impacts of the Project) on circulation element roads, to avoid reduction in the existing Level of Service below "C", with the exception that LOS "D" may occur on signalized arterials for a period not to exceed a total of two hours per day. No more than 15,000 dwelling units or 4,000,000 million square feet of commercial may be constructed within the Project until funding and construction for LRT is assured. As described earlier, Applicants in the Otay River parcel shall contribute their "fair share" to the funding of these facilities and operating costs. Project-specific Mitigation Measures The following Project-specific measures have been required for individual onsite and offsite segments and intersections to mitigate significant impacts associated with the Project. For the onsite and offsite segments and intersections which were identified as required mitigation in the FPEIR, a subsequent analysis of buildout traffic conditions under village design and Transportation Demand Management (roM) assumptions was conducted (JHK and Associates, February, 1993). The purpose of this subsequent analysis was to estimate the potential benefits of the village design and roM conditions on the proposed Phase II Progress Plan circulation network and Page 115 define appropriate reductions in required ID1t1gation. Thus, individual segment mitigation measures as recommended in the FPEIR were eliminated (because they were no longer necessary), and/or, replacement mitigation to increase intersection capacity at the major signalized intersections along these impacted segments was developed. For a segment mitigation measure to be eliminated, the segment ADT volume under village design and TDM assumptions reduced the impact to conform with the LOS C threshold criteria. Consequently, acceptable peak hour intersection and segment levels of service will result and conformance with Traffic ThreshoL' Standards will be achieved. However, if at the SPA level review, forecasted reductions in traffic activity resulting from village design and TDM assumptions are not expected to occur, the initially recommended mitigation may be necessary. Onsite Network Upgrade EastLake Parkway between Orange Avenue and EUC North from 4-lane major to 6-lane major and provide special at-grade intersection design 2 or grade separated intersection design. Upgrade Village 2 Local between EUC North (La Media Road) and EUC North (Village 2 Loop Road) from 2-lane local collector to 4-lane collector. Upgrade Village 3 Local between Village 3 Local (Village 3 Loop Road) and Paseo Ranchero from 2-lane local collector to 3-lane collector. . Upgrade Village 3 Local (Village 3 Loop Road) from 2-lane local collector to 3-lane collector. . Upgrade Village 6 Local between EUC Major and Village 6 Collector from 2-lane local collector to 4-lane collector. . Upgrade Village 7 Local between Village 7 Collector and Village 7 Major from 2-lane local collector to 3-lane collector. Upgrade Village 7 Local between Village 7 Major and Village 7 Collector from 2-1ane local collector to 3-lane collector. Offsite Network 2For major intersections, mitigation may require enhanced at-grade intersection dcsign treatments including double left-turn lanes, exclusive unrestricted free right-turn lanes and/or additional through lanes where appropriate (for actual intersection improvement recommendations, see Phase II Progress Plan with Village Design and TOM Assumptions Technical Analysis prepared by JHK and Associates, February, 1993). Page 116 The Applicant shall participate in fair share funding and implementation of the following: . Upgrade Bonita Road between 1-805 and Plaza Bonita Road by providing at- grade intersection design (see. footnote 1 above). Upgrade Bonita Road between Plaza Bonita Road and Willow Street by providing special at-grade intersection design (See, footnote 1 above). Upgrade Bonita Road between Willow Street and Otay Lakes Road by providing special at-grade intersection design (see footnote 1 above). . Upgrade Bonita Road between Otay Lakes Road and Central Avenue by providing special at-grade intersection design (see footnote 1 above). Upgrade Bonita Road between Central Avenue and San Miguel Road from 4-lane collector to 4-lane major3 . Upgrade Camino Macquiladora between Otay Mesa Road and Heritage Road from a 2-lane collector to a 4-lane collector. . Upgrade Camoustie Road between Harvest Road and Domoch Court from a 2-lane collector to a 3-lane collector. . Upgrade Del Sol Road west of Paseo Ranchero from a 2-lane collector to a 3-lane collector. . Upgrade East H Street between 1-805 and Terra Nova Road from a 6-lane prime to an 8-lane prime. Upgrade EastLake Parkway between Palomar Street and Orange Avenue from 4-lane major to 6-lane prime and provide special at-grade intersection design (see footnote 1 above). Upgrade EastLake Greens between Hunte Parkway and Hunte Parkway from a 2-lane collector to a 3-lane collector. (loop road) Upgrade EastLake Local between EastLake Parkway and EastLake Greens from 2-lane collector to a 4-lane collector. 3City of Chula Vista General Plan classification upgrade only, to be consistent with current County General Plan classification. Page 117 Upgrade EastLake Trails between Hunte Parkway and Hunte Parkway from a 2-lane collector to a 3-lane collector. (loop road) Upgrade Hunte Parkway between Otay Lakes Road and EastLake Greens from a 4-lane major to a 6-lane major. . Upgrade La Media Road between Otay Mesa Road and SR-905 from a 4-lane major to a 6-lane prime. Upgrade Oleander Avenue between Telegraph Canyon Road and Naples Avenue from a 2-lane collector to a 4-lane collector. . Upgrade Otay Lakes Road between East H Street and Telegraph Canyon Road by providing special at grade design (see footnote 1 above) or grade separated intersection design. . Upgrade Otay Lakes Road between SR-125 and EastLake Parkway from a 6- lane prime to an 8-lane prime and by providing special at-grade intersection design (see footnote 1 above) or grade separated intersections. Upgrade Paseo Del Rey between East H Street and Telegraph Canyon Road from a 2-lane collector to a 4-lane collector. . Upgrade Paseo Ranchero between East J Street and Telegraph Canyon Road from a 4-lane collector to a 4-lane major. . Upgrade Sweetwater Road between Bonita Mesa Road and Willow Street from 4-lane collector to 6-lane major. (see footnote 2 above). . Upgrade Sweetwater Road between Bonita Road and SR-54 from 4-lane collector to 4-lane major. (see footnote 2 above). Upgrade Willow Street between Sweetwater Road and Bonita Road from 4-lane collector to 6-lane major. If forecasted reductions in traffic activity resulting from village design and TDM analysis do not occur, additional mitigation, as identified in the FPEIR, would be required on the following se~ments: Upgrade EUC North between Village 2 Local and La Media Road by providing special at-grade intersection design (see footnote 1 above) or grade separated intersection design. Page 118 Upgrade Village 5 Local between Village 5 Collector and Palomar Street from 2-lane local collector to 3-lane collector. Upgrade Village 6 Local between Village 6 Collector and EUC Major from 2-lane local collector to 3-lane collector. . Upgrade Central Avenue between Bonita Road and Carrol Canyon Road from a 2-lane collector to a 4-lane collector. Hunte Parkway between Otay Lakes Road and EastLake Greens from a 4- lane major to a 6-lane major and by providing special at-grade intersection design (see footnote 1 above). . Upgrade La Media Road between Otay Mesa Road and SR-905 from a 4-lane major to a 6-lane major by providing special at-grade intersection design (see footnote 1 above). Upgrade Brittania Boulevard between SR-905 and Airway Road from a 4-lane major to a 6-lane major. . Upgrade Millar Ranch Road between SR-94 and Proctor Valley Road from a 4-lane collector to a 4-lane major. . Upgrade Orange Avenue between Hunte Parkway and EastLake Vista from a 4-lane major to a 6-lane major by providing special at-grade intersection design (see footnote 1 above). . Otay Lakes Road between Bonita Road and East H Street by providing special at-grade intersection design (see footnote 1 above). Upgrade Paseo Ranchero between Otay Valley Road and Del Sol Road by providing special at-grade intersection design (see footnote 1 above). . Upgrade Wueste Road between Otay Lakes Road and Orange Avenue from a 2-lane collector to a 3-lane collector. If forecasted reductions in traffic resulting from village design and TDM analysis do not occur, additional segment mitigation, beyond special at-grade intersection upgrades as identified previously in these Findings, would be required: . Bonita Road between 1-805 and Plaza Bonita Road from 4-lane major to 6- lane prime. Page 119 Bonita Road between Plaza Bonita Road and Willow Street from 4-lane major to 6-lane major. . Bonita Road between Willow Street and Otay Lakes Road from 4-lane major to 6-lane prime. Bonita Road between Otay Lakes Road and Central Avenue from 4-lane majL_ to 6-lane major. Bonita Road between Central Avenue and San Miguel Road from a 4-lane collector to a 4-lane major. . . . Significant Effect: Potential secondary impacts related to offsite roadway improvements. [FPElR, p. 4.9.11-24 and Table 3.10-9] Finding: As discussed in the FPEIR and at public hearings on the Project certain secondary impacts related to offsite improvements may occur (i.e.: impacts to biological resources, cultural resources, land use and aesthetics). However, at this time it is speculative to forecast mitigation because such off site improvements may not be required for 10 - 20 years or more. Additionally, such offsite improvements will be subject to environmental review at the time that such discretionary action is proposed. For these reasons, the Council determines that there are no feasible mitigation measures that could be adopted by the Council without the Council engaging in sheer speculation. Pursuant to Section 15091 (a)(3) there are no feasible measures that would mitigate the impact below a level of significance at this time. As described in the Statement of Overriding Considerations, however, the City Council has determined that this significant impact is acceptable because of specific overriding considerations. K. AIR OUALITY Significant Effect: Air quality impacts would exceed the current State Implementation Plan (SIP) air quality attainment regulations which were based on SANDAG Series 7 growth projections. Also, Project emissions of NOx, reactive organic gases (ROG), CO, and PM-lO from vehicular and stationary sources would add to existing violations of federal and state ozone standards. [FPE~R, Volume 2, p. 4.9.12-1] . Finding: San Diego County currently exceeds ambient air quality standards. Additionally, population growth in the county is expected to continue (and may even exceed current Series 7 projections); therefore, the mitigation measures described below will not reduce emissions to a point where there is no net increase in the Page 120 regional pollution background. Pursuant to section 15091 (a) (1), the mitigation measures required below would substantially lessen the impacts on air quality, but the impacts would still remain significant. Pursuant to Section 15091 (a) (3) of the State CEQA Guidelines, there are no other feasible mitigation measures that would mitigate the impacts below a level of significance. As described in the Statement of Overriding Considerations, however, the City Council has determined that these significant impacts are acceptable because of specific overriding considerations. Mitigation Measures: The following mitigation measures are found to be feasible and are required as conditions of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.12-1] The Applicant shall incorporate into the SPA plans all feasible measures developed by the County of San Diego in the Regional Air Quality Strategy (RAQS) in response to the California Clean Air Act (CCAA). . The Applicant shall incorporate into the SPA plans the following measures: Land Use Neighborhood shopping and personal services adjacent to residential areas to minimize auto trips and reduce mileage traveled to service areas. Open space and recreational facilities within or adjacent to the residential areas. Employee services within walking distance (i.e., banking, child care, restaurants, etc.). A balanced mix of housing and employment possibilities to reduce trips and vehicle miles traveled. Siting/Design The avoidance of potentially incompatible projects (for example, a residential development near one of the quarries or the landfill). Dedicated bike lanes to encourage use of bicycles. Bicycle storage facilities at employment and retail centers. Shower and locker facilities at offices to encourage bicycle use. Page 121 Sidewalks and curbs to ensure safe pedestrian travel within residential areas and to commercial centers. Street designs that promote pedestrian safety (i.e., safe islands in center of major arterials, "Walk" signals, night lighting, etc.). Shopping centers oriented to promote use by mass transit (Le., provide bus turnouts, pedestrians, a..d bicyclists). Parking lots designed to promote use of mass transit and car pools. The installation of heat transfer modules on gas-fired furnaces to control emissions of NOx. Solar heating to heat water for domestic use and for swimming pools. Advances in solar technology in the future may make other applications appropriate. Low-NOx residential and commercial water heaters. Enhanced energy efficiency in building designs and landscaping plans. Identify an environmental coordinator to be responsible for education and disseminating information on ridesharing and/or mass transit opportunities, recycling, energy conservation programs, etc. Transportation-related Management Actions Land for transit support facilities such as bus stops, park-and-ride lots, etc. shall be provided. A determination to dedicate land shall be made in consultation with the Metropolitan Transportation Development Board (MTDB). Amenities to increase convenience and attractiveness of transit stops (Le., passenger staging areas, waiting shelters, etc.) shall be provided. Demand-responsive traffic signals shall be negotiated. An agreement with the transit agency to institute new routes or express bus service, or to expand existing service, related to the demand caused by the Project shall be negotiated. Fair share participation for transit facilities and operation shall be required. Page 122 Compliance with APCD Indirect Source Control Program, if adopted. Major employers shall provide ridesharing or mass transit incentives. . . . . No more than 15,000 dwelling units or 4,000,000 million square feet of comn,ercial may be constructed until funding and construction for LRT is assured. Significant Effect: Short-term emissions would occur during Project construction. [FPEIR, Volume 2, p. 4.9.12-1] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations have been required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final Program EIR. The following changes or alterations have been required in, or incorporated into, the Project and will reduce the impacts to below a level of significance. Mitigation Measures: The following techniques to reduce construction emissions are found to be feasible and are required as conditions of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.12-1] The following conditions shall be included in each SPA Plan: Minimize simultaneous operation of multiple construction equipment units. Low pollutant-emitting construction equipment shall be used. Electrical construction equipment shall be used, as practical. . Catalytic reduction for gasoline-powered equipment shall be used. Injection timing retard for diesel-powered equipment shall be used. . The construction area shall be watered at least twice daily to minimize fugitive dust. . Graded areas shall be stabilized (for example, hydroseeded) upon completion of grading to minimize fugitive dust. Permanent roads shall be paved immediately after grading to minimize dust. L. NOISE Page 123 Significant Effect: Noise levels in many areas of the Project would exceed the 60dBA CNEL standard for residential uses. Also, indirect roadway and construction noise would exceed the 60 dBA Leq standard for Least Bell's vireo habitat and California Gnatcatcher. [FPEIR, Volume 2, p. 4.9.13-1 through p. 4.9.13-3] Finding: Significant noise impacts have been identified from roadways, the Nelson and Sloan Mining Operation, the Daley Quarry, the Otay Landfill, the San Diego Air Sports Center, construction sites, and the various industrial activitL s in close proximity to the Project site. Pursuant to section 15091 (a) (1) of the CEQA Guidelines changes or alterations are required in, or incorporated into, the Project which will substantially lessen the identified noise impacts from these noise sources, but not to below a level of significance. This determination must be made at the SPA level when more detailed development plans are available to assess impacts and current conditions. Therefore, pursuant to Section 15091 (a) (3) of the State CEQA Guidelines there are no feasible measures that would mitigate the impacts below a level of significance at the GDP level. As described in the Statement of Overriding Considerations, however, the City Council has determined that this significant impact is acceptable because of specific overriding considerations. Mitigation Measures: The following mitigation measures are feasible and are required as conditions of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.13-4 through p. 4.9.13-5] . The GDP text identifies areas where a site-specific study is required. The identified areas shall include the following: Areas within 9300 feet of the Nelson and Sloan Mining Operation and the Daley Quarry; All areas within the 60 CNEL noise contour of onsite and offsite roadways, which shall include all roadways on the Otay River parcel and all roadways assigned a future ADT of 3000 trips or greater on the Proctor Valley and San Ysidro parcels; All areas within 1250 feet of the Otay Landfill; All areas within one mile of the San Diego Air Sports Center; and All areas adjacent to Least Bell's Vireo habitat and California Gnatcatcher habitat. Site-specific acoustical analyses shall be required during SPA Plan review and prior to adoption of any Circulation Element General Plan Amendments. The study shall provide a description of the Project, the existing noise Page 124 environment, the methods of evaluation, the future acoustical environment, noise impacts, and the required mitigation measures. The study shall be prepared by a qualified acoustician in accordance with local standards for preparation of such studies. The following standards shall be achieved. . Residential development within the impact area shall not be allowed unless the site specific noise study shows that the exterior noise level can be mitigated to 60 CNEL or below and that the interior noise level can be mitigated to 45 CNEL or below. . Impacts to Least Bell's Vireo and California Gnatcatcher habitat shall be mitigated to achieve a level of 60 DBA Leq or below. Proper site planning to reduce noise impacts shall be utilized for all noise sensitive land uses. Site planning techniques shall include the following: Place commercial uses adjacent to the high noise roadways such as Heritage Road, Orange Avenue, Otay Valley Road, Paseo Ranchero, and State Route 125. Place less noise-sensitive land uses on parcels closest to significant noise generators such as the Nelson and Sloan Mining Operation, the Daley Quarry, the Otay Landfill, and adjacent to the various industrial activities. Increase the distance from the noise source to sensitive receptors by creation of setbacks. Place noise-sensitive land uses outside of the 60 CNEL noise contour of roadways. Place non-noise sensitive uses such as parking lots and utility areas between the noise source and receiver. Orient usable outdoor living space such as balconies, patios, and children play areas away from roadways. . Noise barriers such as walls and earthen beams shall be used to mitigate noise from ground transportation sources when setbacks are not feasible. To be effective, a barrier(s) shall block the line-of-sight from the source to the receiver. A barrier shall also be of solid construction (e.g., masonry) without holes or gaps and be long enough to prevent sound from passing around the ends. A site-specific Page 125 acoustical analysis shall be required to determine the proper height and placement of a barrier. . An interior acoustical analysis shall be required for all residential buildings located within the 60 CNEL noise contour to ensure that the building's design limits the interior noise level to 45 CNEL or below. The analysis shall be conducted upon submittal of building plans by a qualified acoustician. Careful consideration shall be given to the placement of doors and windows. Construction techniques such as heavy pane or double-pane windows shall be required to increase the sound insulation within a room. If it is necessary to close windows to control interior noise, an alternative means of ventilation such as heat pumps or forced air unit is required to meet the Uniform Building Code requirements. M. PUBLIC SERVICES AND FACILITIES Water Availability and Supply: Significant Effect: Project-generated water requirements would result in significant impacts related to the capability of local jurisdictions to provide adequate water. [FPEIR, Volume 2, p. 4.9.14-1] Finding: As discussed in the FPEIR, it is unknown at this time if, in the future, adequate water supply will be made available to the County Water Authority (CW A) from the Metropolitan Water District (MWD). If it is determined that adequate water supply is not available at the time of individual SPA Plan review, development shall not proceed. If it is determined that adequate water supply is available at the time of individual SPA Plan review, implementation of the following mitigation measures shall be required. Identifying and/or contracting for a precise water contract at this time is impossible since densities, phasing, buildout and other factors are still unknown. The City Council has determined that delaying the identification of a contract will not result in environmental impact because of the other measures adopted herein. Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final Program ErR. The following changes or alteratio~ are required as part of, or incorporated into, the Project and will mitigate Project-specific water facility/service impacts to below a level of significance. Mitigation Measures: The following mitigation measures are feasible and are required as conditions of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.14-2] Page 126 . Upon completion of the comprehensive master plan currently under preparation by the Otay Water District (OWD), the facilities proposed for the Otay Ranch Project shall be reviewed for conformance to this plan and current OWD standards, if the Project is ultimately annexed to OWD. . Annexation of land to the appropriate water jurisdiction as necessary. . Applicant shall prepare and submit for the appropriate jurisdiction(s) approval prior to the first SPA Plan, a Water Master Plan. The Water Master Plan shall include: A Public Facilities Financing and Phasing Plan. A Water Conservation Plan which shall include an analysis of water usage requirements as well as a detailed plan of proposed measures for water conservation. Measures shall include, but not be limited to, planting of drought tolerant vegetation for onsite landscaping and roadside maintenance; the use of irrigation systems which minimize runoff and evaporation loss; and the use of water conservation devices including low flush toilets, shower fixtures, and other amenities. A Water Reclamation Plan which shall include a reclaimed water distribution system designed to meet appropriate engineering standards. The plan shall address, in detail, storage and conveyance, phasing, and financing. The construction of a dual piping system of water supply shall be required for all development where the use of reclaimed water will not jeopardize potable water supplies. A Reclaimed Water Uses and Restrictions Plan which shall be prepared by the Applicant in conformance with the Water Reclamation Plan and current engineering and health standards, prior to any SPA Plan adoption. These uses and restrictions shall be prepared in coordination with the appropriate agencies to promote the maximum use of reclaimed water allowed by law within the Project area. The Water Master Plan will provide: Design criteria and assumptions, in accordance with the appropriate agency and regulatory authorities. Information on how the Project will satisfy MWD's Water Use Efficiency Guidelines. Location and size of facilities for onsite and offsite improvements. Page 127 Operations and terminal storage. The Master Plan shall be consistent with the GDP and implement all applicable mitigation measures and/or conditions of prior approval(s). The SPA Plan shall not be approved unless the Water Master Plan is accepted/approved by the appropriate jurisdiction(s). Written verification from the water district that water will be provided concurrent with need shall be required prior to tentative map approval. The following mitigation measure is rejected as infeasible: Environmental analysis and a decision by LAFCo on the water supply and the water supplier shall be made after the Sphere of Influence Study and prior to the approval of the first SPA. Additionally, a development agreement shall not be entered into without first identifying a water source. Finally, no financing entities shall be formed or revenue bonds sold prior to the identification of a water source and confirmation (i.e. a will serve letter) that such water source is available to supply the proposed development concurrent with the need for Otay Ranch. Rationale: The rejected measure is infeasible because it outlines a cumbersome process that provides no further guarantees regarding the provision of water than the adopted measures. For example, the measure contemplates a separate process for LAFCo to identify a water source. However, it is contemplated that such decisions will be made in the context of the Sphere of Influence Study which also requires environmental documentation. Additionally, the measure forbids the establishment of financing entities even though such entities may be necessary to secure or provide the water source. The City Council finds that the mitigation measures adopted herein reduce the impact below a level of significance and that the measures rejected as infeasible do nothing towards further reduction of the identified impact. . . . Wastewater and Sewer Service: Significant Effect: Facilities to accommodate additional sewage flow and wastewater treatment would be required. [FPEIR, Volume 2, p. 4.9.14-2] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final EIR. Implementation of the following mitigation measures at the SPA level will mitigate Project-related wastewater and sewer service impacts to below a level of significance. Page 128 Mitigation Measures: The following mitigation measures are feasible and are required as conditions of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.14-2 through p. 4.9.14-3] . Prior to approval of any SPA Plan within Otay Ranch, it shall be determined which sewer district will serve the proposed SPA. The Project shall obtain written verification from the applicable sewer district that the tract or parcel will be provided adequate sewer service concurrent with need (a "will serve" letter). When applicable, the Project shall obtain written approval from the County Department of Health Services of private subsurface sewage disposal systems. Following the determination of which jurisdiction will provide sewer service to a proposed SPA and prior to approval of the first SPA, in Otay Ranch, the Applicant shall prepare and submit for the appropriate jurisdiction(s) approval, a Sewer Master Plan in conformance with the sewer engineering and facility siting standards of the appropriate jurisdictions for each SPA. The Sewer Master Plan may be phased and shall address, in detail, the following: Location and size of facilities for onsite and offsite improvements in accordance with the appropriate agency and regulatory requirements. A Public Facilities Financing and Phasing Plan. Phasing of facilities shall be consistent with the growth management provisions of the GDP Subregional Plan. The Sewer Master Plan shall achieve: Design Criteria and Assumptions in accordance with the appropriate agency and regulating authorities. The Master Plan shall be consistent with the GDP and implement all applicable mitigation measures and/or conditions of prior approval(s). The SPA Plan shall not be approved unless the Sewer Master Plan is accepted/approved by the appropriate jurisdiction(s). A Sewer Master Plan shall be approved prior to the approval of each SPA Plan within Otay Ranch. . . . During the public hearings, several members of the public argued that sewer service should be prohibited in Central Proctor Valley and Planning Areas 16 and 19. This prohibition was rejected as infeasible by the Council because the Project proposes Page 129 to cluster development unless environmentally constrained areas thereby necessitating public sewer. Furthermore, the use of septics in these areas has the potential to have an adverse impact on the City of San Diego's water supply, namely, Otay Lakes. When precise development plans are submitted for approval, the appropriate jurisdiction shall perform the necessary percolation test and/or other tests to determine whether or not the sewer should be extended into these areas. Page 130 within the jurisdiction of San Diego County and overlaps the boundaries of several county planning areas. Most of the site is within the southern part of the Pala-Pauma Subregion, although more than 4,000 acres are within the Valley Center plan area (eastern end) and over 2,000 acres lie at the far eastern end of the North County Metropolitan Subregion. Ranch Guejito itself, along with some adjacent land, is held by one owner. However, more than 300 landowners hold title to the entire site under consideration, primarily in the area immediately east of Valley Center and west of the ranch. County Route S-6 (Va:ley Center Road) is adjacent to the site at its extreme northwest corner. The Rancho Guejito Alternative is rejected as infeasible because it is not adjacent to existing developed areas. Consequently, the development of Rancho Guejito would be more growth inducing because of the gap between developed and undeveloped areas. Such non-contiguous development would result in greater air pollution impacts, greater traffic impacts and greater energy consumption. Rancho Guejito has multiple ownerships as opposed to one single ownership and for that reason the decisionmakers believe it would be more difficult to implement program-wide mitigation measures such as a preserve. Finally, the proximity of Rancho Guejito to the research observatories in the county would create significant unrnitigable impacts to those facilities. For these reasons, the Rancho Guejito Alternative is considered by the decisionmakers to be infeasible. E. DELUZ OFFSITE ALTERNATIVE Because the site contains only 3,340 acres with less than a 25% slope, this site was eliminated from consideration early on in the site selection process. The Otay Ranch site allows the decisionmakers to comprehensively plan a 23,088 acre site and more specifically to allow the creation of a long term comprehensively managed Preserve within that site, while still meeting Project objectives of creating a balanced mix of housing in close proximity to employment centers. For this reason, the City Council rejects this alternative as infeasible. The DeLuz Alternative was rejected because of the following: . More growth inducing; . More air pollution generated and more energy consumed; . More stress on local and regional transportation systems; . Had multiple ownerships; . More impactive on both research observatories in San Diego County. For these reasons, the Deluz Offsite Alternative is considered by the decisionmakers to be infeasible. XI. Page 175 Significant Effect: The Otay Ranch population would result in the need for additional staff and facilities to provide these services. [FPEIR, Volume 2, p. 4.9.14-3 through 4.9.14-4] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final EIR. Implementation of the following measures at the SPA level will mitigate Proj' t-related impacts to below a level of significance. Mitigation Measures: The following mitigation measures are feasible and are required as conditions of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.14-4] The Applicant shall prepare and submit for the appropriate jurisdiction(s) approval prior to the first SPA Plan, in close coordination with the appropriate service provider and based on the jurisdictional arrangements, a Law Enforcement Services Master Plan. The Law Enforcement Services Master Plan shall address city/county law enforcement standards the staff needs of the California Highway Patrol (CHP), and include: The types of facilities and equipment to be provided. Site and location criteria. Design techniques and guidelines to minimize crime. Funding mechanisms identified by the appropriate law enforcement agency and implementation method assured. The Master Plan shall be consistent with the GDP and implement all applicable mitigation measures and/or conditions of prior approval(s). The Law Enforcement Services Master Plan shall assure the Project meets the following standards: Provide properly equipped and staffed law enforcement units to respond to 84 percent of "Priority One" emergency calls within 7 minutes and maintain an average response time of all "Priority One" emergency calls of 4.5 minutes or less. (Urban service) Provide properly equipped and staffed law enforcement units to respond to 62 percent of "Priority Two Urgent" calls within 7 minutes and maintain an average response time to all "Priority Two" calls of 7 minutes or less. (Urban service) Page 132 Provide facilities for properly equipped and staffed law enforcement units to maintain an average response time for "Priority One" calls of 12 minutes, and 24 minutes for low priority calls. (Rural service) The SPA Plan shall not be approved unless the Law Enforcement Services Master Plan is accepted/approved by the appropriate jurisdiction(s). Applicant shall prepare and submit for appropriate jurisdiction(s) approval prior to the first SPA Plan in close coordination with the appropriate service provider, a Fire Master Plan. The Fire Master Plan shall address: Facilities requirements of the city and county including equipment needs. Si te selection criteria. Specific site locations. Funding mechanisms. The Master Plan shall demonstrate that the proposed facilities shall enable the fire protection servers to achieve the urban and rural emergency response times established by the City of Chula Vista threshold and County of San Diego Public Facilities Element and include a Sprinkler Plan, an Emergency Disaster Plan, and a Brush Maintenance Plan. The Master Plan shall be consistent with the GDP and implement all applicable mitigation measures and/or conditions of prior approval(s). The Fire Master Plan shall assure the Project meets the following standards: Provide sufficient fire and emergency services facilities to respond to calls within the Otay Ranch urban communities: within a 7 minute response time in 85% of the cases; a 10 minute travel time in the Otay Ranch estate communities with lots averaging more than 2 acre (and attendant neighborhood serving commercia). and; a 20 minute travel time in the Otay Ranch rural communities with 4 acre lots or larger. Provide sufficient fire and emergency services facilities to respond to calls within: Otay Ranch single family communities with residential lots of less than two acres, or more intensive uses as multi-family residential, including industrial development and all commercial development except neighborhood commercial, in a 5 minute travel time; Otay Ranch single- family residential lots from two acres to four acres, including neighborhood commercial development, in a 10 minute travel time; and Otay Ranch large lot single-family residential and Page 133 agricultural areas with lot sizes greater than four acres in a 20 minute travel time. The SPA Plan shall not be approved unless the Fire Master Plan is accepted/approved by the appropriate jurisdiction(s). Applicant shall prepare and submit for appropriate jurisdiction(s) approval prior to the first SPA Plan in close coordination with the appropriate service provider, an Emergency Service Master Plan. The Emergency Service Master Plan shall address facilities requirements including facilities for hazardous materials incidents, service locations and funding mechanisms, and shall be approved by the appropriate fire protection district. The master plan shall demonstrate that a 10-minute emergency response time will be achieved by all new or upgraded facilities. The Emergency Service Master Plan shall provide: Fire protection service facilities concurrent with need. Emergency service facilities concurrent with need. . SPA Plans shall include a Public Facilities Financing and Phasing Plan. . Each SPA shall be required to meet the criteria of the approved master plan. . . . Schools Significant Effect: The Otay Ranch student population would generate the need for additional schools. [FPEIR, Volume 2, p. 4.9.14-4 through p. 4.9.14-5] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid or substantially lessen the significant environmental effect as identified in the Final Program EIR. Implementation of the following measures at the SPA level will ensure that Project-related impacts to school services are mitigated to below a level of significance. Mitigation Measures: The following mitigation measures are feasible and are required as conditions of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.14-5] . The Applicant shall prepare and submit for the appropriate jurisdiction(s) approval prior to the first SPA Plan, in close coordination with the affected Page 134 school districts, a School Facilities Master Plan. The School Facilities Master Plan shall assure the availability of school service for the first development within Otay Ranch and shall provide a comprehensive framework for the provision of school service with implementation of the entire Otay Ranch development. The School Facilities Master Plan shall: Demonstrate that a maximum capacity of 650 elementary students, 1,500 middle school students and 2,500 high school students will be achieved at each new school proposed in conjunction with Otay Ranch, in accordance with school district standards. Identify the general locations of schools through the General Development Plan. The Master Plan shall be consistent with the GDP and implement all applicable mitigation measures and/or conditions of prior approval(s). The SPA Plan shall not be approved unless the School Facilities Master Plan is accepted/approved by the appropriate jurisdiction(s). . Prior to SPA Plan approval, the Applicant shall provide documentation confirming school site locations and school district approval of the locations within that SPA. This approval shall entail site location, size, and configuration of schools, with provisions for access and pedestrian safety to the satisfaction of the various school districts. Funding and phasing shall also be addressed and confirmed in accordance with school district procedures. . SPA Plans shall include a Public Facilities Financing and Phasing Plan. . Prior to SPA Plan approval, the Applicant shall provide documentation to the appropriate jurisdiction confirming school district satisfaction of facility funding to fully mitigate Otay Ranch student generation impacts to below a level of significance. . . . Library Service: Significant Effect: Additional library facilities would be required to serve the Otay Ranch population. [FPEIR, Volume 2, p. 4.9.14-5] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the final EIR. Implementation of the Page 135 following mitigation measures at the SPA level will mitigate Project-related impacts to library service to below a level of significance. Mitigation Measures: The following mitigation measures are feasible and are required as conditions of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.14-5] . The Applicant shall prepare and submit for the appropriate jurisdiction(s) approval prior to the first SPA Plan, a Library Master Plan in accordance with the standards of the applicable jurisdiction. (See, for example the City of Chula Vista's Municipal Code section 19.09.040 (D).) The Library Master Plan shall address site location, size, and funding mechanisms. The Master Plan shall be consistent with the GDP and implement all applicable mitigation measures and/or conditions of prior approval(s). The SPA Plan shall be approved unless the Library Master Plan is accepted/approved by the appropriate jurisdiction(s). . SPA Plans shall include a Public Facilities Financing and Phasing Plan. . . . Parks. Recreation. and Open Space: Significant Effect: Otay Ranch would generate additional demand for regional and local parkland, open space, and recreational facilities. [FPEIR, Volume 2, p. 4.9.14-5 through p. 4.9.14-6] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final Program EIR. Implementation of the following measures at the SPA level will ensure mitigation of Project-related impacts regarding parks, recreation, and open space to below a level of significance. Mitigation Measures: The following mitigation measures are feasible and are required as conditions of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.14-6] . Open space shall be provided in compliance with the following policies outlined in the Resource Management Plan (RMP) for Otay Ranch. The RMP provides for minimum standards to be achieved in the development of the Project. Page 136 . Within the RMP management preserve, permitted recreational uses shall be consistent with long-term protection and management of sensitive natural and man-made resources. A maximum of 400 acres within the preserve may be designated for active recreational purposes. A range of public access and regional recreational uses shall be provided within the management preserve. Permitted recreational uses within the preserve shall include the following, so long as they are designed in an environmentally-sensitive manner: Walking and hiking trails throughout most of the preserve, linking with the county trails system. Limited wilderness-type camping and picnic facilities in non-sensitive areas. Equestrian trails in non-sensitive areas. Bicycle trails in non-sensitive areas. A native plant nursery and botanical garden. Links-style golf course(s) in non-sensitive areas. A "Recreation Access Plan" shall be formulated during the Phase 2 RMP, when more information regarding population density, location and regional park concepts is available, to identify the types (hiking, bicycle, equestrian) and locations of public trails to be provided within the management preserve. The required Access Plan shall address the following issues: Establishing linkages between preserve trails and community and regional trails systems, including regional park trails. Identifying trail access points to the management preserve consistent with resource protection goals. Establishing appropriate daily and seasonal limits on trail use. Assuring that the kind and intensity of trail uses is consistent with protection of resource areas being traversed. . The Project must provide 15 acres of regional park and open space per 1,000 Otay Ranch residents, a minimum of 3 acres of neighborhood and community park land per 1,000 Otay Ranch residents and 12 acres of other active or passive recreation and open space per 1,000 Otay Ranch residents. Page 137 Recreational facilities and open space shall be provided in accordance with the General Development Plan (GDP)/Subregional Plan and the General Plan Amendments. The Project SPA Plans shall further define the location, acreage, and boundaries of neighborhood and community parks and open space on the Otay Ranch property in a form and manner acceptable to the City of Chula Vista and the C Junty of San Diego. The Applicant shall prepare and submit for appropriate jurisdiction(s) approval prior to approval of the first SPA Plan in accordance with the required parkland acreage standards of the appropriate jurisdiction(s), a Recreation Access Master Plan. The Recreation Access Master Plan shall address facilities requirements, site-selection criteria and specific park site locations, and funding mechanisms, and provide a bicycle and trails plan developed by the Project Applicant in conjunction with the Parks, Recreation, and Open Space Master Plan for Otay Ranch. The Master Plan shall be consistent with the GDP and implement all applicable mitigation measures and/or conditions of prior approval(s). The SPA Plan shall not be approved unless the Recreation Access Master Plan is accepted/approved by the appropriate jurisdiction(s). . All SPA Plans shall include a Public Facilities Financing and Phasing Plan. . The funding source for local parks shall be the Park Lands Dedication Ordinance (PLDO), or similar exaction authority. Should the PLDO be satisfied through the payment of fees, the park improvements shall be made by the jurisdiction or park district. If the PLDO is satisfied by land dedication, the Applicant shall provide turn-key facilities. . The reconstruction of the State Department of Recreation's California Riding and Hiking Trail shall be implemented along with the attendant roadway improvements. If necessary, easement relocation within Otay Ranch shall occur at the Applicant's expense. . . . Electricity and Gas: Significant Effect: Additional substations and associated distribution lines would be required to service the Project. [FPEIR, Volume 2, p. 4.9.14-6] Page 138 Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final Program EIR. Implementation of the following measures during Project development shall mitigate impacts to electric service to below a level of significance. The provision of gas facilities is not considered a significant impact. Mitigation Measures: The following mitigation measures are feasible and are required as conditions of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.14-6] The Project Applicant shall work with SDG&E during all stages of electrical and gas facilities planning to minimize disturbance to sensitive resources. . Land uses adjacent to the SDG&E transmission lines shall be subject to review and comment by SDG&E. . . . Health and Medical Services Facilities: Significant Effect: Otay Ranch would generate the need for additional health and medical service facilities. [FPEIR, Volume 2, p. 4.9.14-7] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final Program EIR. Implementation of the following mitigation measures at the SPA level will mitigate Project-specific impacts to below a level of significance. Mitigation Measures: The following mitigation measures are feasible and are required as conditions of approval are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.14-7] . To ensure provision of and access to facilities which meet the health care needs of Otay Ranch residents, governmental agencies and development planners shall work directly with service providers to identify the need for and location of medical and health facilities in the Otay Ranch area during all stages of planning. . Prior to SPA Plan approval, siting and design criteria shall be developed by the Project Applicant, in conjunction with the appropriate governmental agencies, to address public and private health and medical care facilities. Criteria should include, but not be limited to, consideration for impact of Page 139 facility concentration on neighborhoods, access to transportation, and co-location of comparable programs where feasible. . . . Senior and Social Services: Significant Effect: Otay Ranch would generate the ..eed for additional senior and social service facilities. [FPEIR, Volume 2, p. 4.9.14-7 through p. 4.9.14-8] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final Program EIR. Implementation of the following mitigation measures at the SPA level will mitigate Project-specific impacts to below a level of significance. Mitigation Measures: The following mitigation measures are feasible and are required as conditions of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.14-8] To ensure provision of and access to facilities which meet the senior and social service needs of Otay Ranch residents, governmental agencies and development planners shall work directly with service providers to identify the need for and location of senior and social service facilities in the Otay Ranch area. . Prior to approval, SPA Plans shall be circulated by the Project Applicant to the Commission on Aging, Department of Social Services, Area Agency on Aging, Human Services Council and Chula Vista 21 for their review and input. Planning for social services for the residents of Otay Ranch shall incorporate the following considerations: The elderly have special needs for affordable housing, transportation, and health care. The number of persons 65 years of age and older requiring long-term care will continue to increase significantly, and as family size also decreases, there will be less family-based support and increased reliance on outside services for the elderly. The public sector and community-based organizations will need to deliver services in more culturally sensitive ways. Close collaboration with ethnic and cultural groups will be essential. Page 140 . . . Child Care Facilities: Significant Effect: Otay Ranch would generate the need for additional child care facility space. [FPEIR, Volume 2, p. 4.9.14-8] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final Program EIR. Implementation of the following mitigation measures at the SPA level will mitigate Project-related child care impacts to below a level of significance. Mitigation Measures: The following mitigation measures are feasible and are required as conditions of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.14] . Applicant shall prepare and submit for appropriate jurisdiction(s) approval prior to the first SPA Plan, a Child Care Master Plan. The Child Care Master Plan shall address site-selection criteria and acreage requirements based on the child-care demand of the Project. The Child Care Master Plan shall require that Child care and pre-school facility sites shall be located adjacent to public and private schools, religious assembly uses, village center employment areas, transit centers and other locations deemed appropriate. The Master Plan shall be consistent with the GDP and implement all applicable mitigation measures and/or conditions of prior approval(s). The SPA Plan shall not be approved unless the Child Care Master Plan is accepted/approved by the appropriate jurisdiction(s). . . . Animal Control Facilities: Significant Effect: Otay Ranch would generate the need for additional animal control facility space. [FPEIR, Volume 2, p. 4.9.14-9] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final Program EIR. Implementation of the following mitigation measures at the SPA level will mitigate Project-related animal control impacts to below a level of significance. Page 141 Mitigation Measures: The following mitigation measure is feasible and is required as a condition of approval and is made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.14-9] . The Project Applicant shall participate in programs to equitably share the funding of animal control facilities and designate animal control facilities sufficient to provide adequate square footage of shelter space per Otay Ranch dwelling unit to the satisfaction of the appropriate jurisdiction. N. RISK OF UPSET Significant Effect: Increase in urbanization would result in an increase in the use, transport, storage, and disposal of hazardous materials and an associated increase in the risk of an upset condition in the area. [FPEIR, Volume 2, p. 4.9.15-1] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final Program EIR. Implementation of the measures identified below will mitigate impacts to below a level of significance. [FPEIR, Volume 2, p. 4.9.15-2] Mitigation Measures: The following mitigation measures are feasible and are required as conditions of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 4.9.15-1] . Soil and ground-water testing shall occur in the ranch operations center area potentially affected by the previous disposal of hazardous waste or historic pesticide use. The purpose of the testing shall be to identify areas of contamination in excess of federal and state standards. Should areas of excess contamination be identified, remediation shall occur prior to residential development. The Applicant shall notify prospective buyers and the California Department of Health Services (DHS), as required, regarding the Applicant's intention to develop the area adjacent to the Otay Landfill and the Appropriate Technologies II hazardous waste facilities. The U.S. Army or another appropriate entity shall conduct a survey of the Brown Field Bombing Range to identify the presence of any unexploded ammunition. Should unexploded ordnance be located on the property, appropriate measures shall be taken for removal of the material. . The transport of hazardous waste by the Applicant, sub-contractors, and future businesses on existing and future roadways shall be conducted in Page 142 accordance with the California Code of Regulations (CCR) and the Code of Federal Regulations (CFR). These regulations identify Department of Transportation (DOT) approved methods for packaging and containerizing hazardous waste and site appropriate options and procedures relative to the handling and transportation of these wastes. . The need for emergency evacuation routes and other emergency facilities shall be determined at the SPA level if necessary based on the presence of onsite industrial uses as well as the presence of offsite industrial uses. . . . Significant effect: Direct and Indirect growth inducing impacts; in particular with regard to Jamul and the potential availability of sewer extensions. Finding: The Project has the potential to induce growth, particularly in Jamul because of the potential availability of sewer service. This change is significantly adverse and unrnitigable nd remains significant. Pursuant to Section 15091 (a) (3) of the State CEQA Guideline there are no feasible mitigation measures which would mitigate the impact. As described in the Statement of Overriding Considerations,however, the Board of Supervisors has determined that this impact is acceptable because of specific overriding considerations. The following mitigation measure is rejected as infeasible: . Preclusion of sewer service to Jamul Rural Planning Area 16. Rationale: The decisionmakers have determined that the measure is infeasible because site specific tests regarding the feasibility of septic systems need to be completed,priQr to determining how to serve that area. Because the impact on water quality (if septic tanks were used) needs to be assessed at the SPA level, the decisionmakers need to maintain flexibility in determining which type of system to use. Additionally, the decisionmakers have determined to cluster housing in an urban manner in this Planning Area in order to avoid impacts to open space. This urban village setting is potentially conducive to sewer expansion. These findings discuss all impacts contained in the FPEIR and discussed at the numerous public hearings. However, to the extent that an impact or "alleged" impact of the Project either direct or secondary has not been discussed in this document, the Council hereby overrides such impact for the reasons described in the Statement of Overriding Considerations. IX. CUMULATIVE SIGNIFICANT EFFECfS AND MmGATION MEASURES Page 143 Cumulative impacts are those which "are considered when viewed in connection with the effects of past projects, the effects of other current projects, and the effects of probable future projects" (Public Resources Code Section 21082.2 subd.(b)). Several development proposals have been submitted for consideration or have been recently approved by the cities of Chula Vista and San Diego and the County of San Diego in proximity to Otay Ranch. These "current or probable future" development proposals would affect many of the same natural resources and public infrastructure as Otay Ranch. Several potentially significant cumulative impacts are associated with development of Otay Ranch in conjunction with these surrounding development projects. Although the EIR does not analyze the specific cumulative impacts associated with the Mitigated Phase II-Progress Plan, it does analyze a range of alternatives including the Phase I-Progress Plan which is comparable, but more impactive, than the Final Project. Since the Phase I-Progress Plan proposes more dwelling units and, thus, has relatively more significant environmental impacts than the Final Project, the analysis of the Phase I-Progress Plan plus reasonably related current and probable future projects provides a reasonable basis upon which to analyze cumulative impacts. In formulating mitigation measures for the Project, regional issues and cumulative impacts have been taken into consideration. Many of the mitigation measures adopted for the cumulative impacts are similar to the Project level mitigation measures. This reflects the inability of the Lead Agency to impose mitigation measures on surrounding jurisdictions (i.e., City of San Diego, City of National City and Mexico) and the contribution of these jurisdictions to cumulative impacts. The final Project along with the other related projects will result in the following irreversible cumulative environmental changes. All page numbers following the impacts refer to pages from the Final Program EIR. Land Use, Planning, and Zoning The cumulative loss of over 32,000 acres of open space and agricultural land. [FPEIR, Volume 2, p. 6-9] Potential land use incompatibilities between Otay Ranch and the alternate county landfill sites. [FPEIR, Volume 2, p. 6-9] Landform Alteration/Aesthetics Change in character from rural to urban development. [FPEIR, Volume 2, p. 6-13] Overall landform alteration, creation of manufactured slopes, and grading of steep slopes. [FPEIR, Volume 2, p. 6-13] Page 144 The cumulative effects of night lighting. [FPEIR, Volume 2, p. 6-13] Biological Resources Significant decrease in key biological resources in southwestern San Diego County. [FPEIR, Volume 2, p. 6-13] Cultural Resources The loss of approximately 75 percent of the known cultural resource sites in the combined cumulative study area. [FPEIR, Volume 2, p. 6-26 through 6-29] Geology and Soils An increase in population and property that would be exposed to the effects of seismic ground shaking from local active faults, such as the Rose Canyon and Coronado Bank faults. [FPEIR, Volume 2, p. 6-30] Paleontology Increased probability of disturbance to significant paleontological resources. [FPEIR, Volume 2, p. 6-31] Agricultural Resources Loss of prime farmland and grazing land. [FPEIR, Volume 2, p. 6-35] Mineral Resources Loss of aggregate mineral resources. [FPEIR,Volume 2, p. 6-36] Water Resources and Water Quality Degradation of water quality and a reduction in ground-water basin recharge. [FPEIR, Volume 2, p. 6-38] Transportation, Circulation, and Access Impacts on short-term and long-term traffic operations. [FPEIR, Volume 2, p.6-41] Air Quality Page 145 Stationary and vehicular emissions would aggravate the San Diego Air Basin's current inability to attain state and federal air quality standards. [FPEIR, Volume 2, p. 6-41 through 6-42] Noise Exposure of residential and other noise sensitive land uses to vehicular noise leve:. exceeding prevailing and local noise standards. [FPEIR, Volume 2, p. 6-43] Public Services and Facilities Water Availability and Demand: Availability of water to serve region. [FPEIR, Volume 2, p. 6-45] Wastewater and Sewer Service: Increased flow generation. [FPEIR, Volume 2, p. 6-46] Integrated Waste Management: Declining landfill capacity in the region. [FPEIR, Volume 2, p. 6-47] Police and Fire Protection and Emergen~ Medical Services: Need for additional facilities to provide services. [FPEIR, Volume 2, p. 6-48] Schools: Projects would generate the need for additional schools. [FPEIR, Volume 2, p. 6-49] Library Service: Additional library facilities and books would be required to serve the cumulative impact area. [FPEIR, Volume 2, p. 6-50] Parks. Recreation. and Open Space: Additional regional and local parkland, open space, and recreational facilities would be required to serve the cumulative impact area. Significant cumulative impacts would also occur to waterfowl hunting in the area. [FPEIR, Volume 2, p. 6-51] Electricity and Gas: Additional substations and associated distribution lines would be required to serve the cumulative impact area. [FPEIR, Volume 2, p. 6-52] Other Public Services: An increased demand for health and medical facilities, senior and social services, cemetery facilities, child care facilities, and animal control facilities in the cumulative impact area. [FPEIR, Volume 2, p. 6-53] Risk of Upset Page 146 The potential risk of adverse health effects associated with the use, transport, and storage of hazardous materials and generation of hazardous waste would increase. [FPEIR, Volume 2, p. 6-54] Certain of the above cumulative impacts cannot be substantially lessened or avoided. As described in the Statement of Overriding Considerations, however, the City Council has determined that these cumulative impacts have been reduced to an acceptable level than accepted because of specific overriding considerations. The below sub-sections define each of the above-described cumulative impact issues, setting forth either the reasons why they are significant and unavoidable, the mitigation measures adopted to substantially lessen or avoid them, or the reasons proposed mitigation measures are infeasible due to specific, economic, social or other considerations. A. LAND USE. PLANNING. AND ZONING Significant Cumulative Effect: The cumulative loss of over 32,000 acres of open space and agricultural land. [FPEIR, Volume 2, p. 6-9] Finding: Cumulative development in the Otay Ranch impact area will result in a significant loss of open space and agricultural land with or without Otay Ranch. This impact, therefore, is considered significant and unrnitigable. Pursuant to Section 15091 (a) (3) of the State CEQA Guidelines, there are no feasible measures that would mitigate the impact below a level of significance. As described in the Statement of Overriding Considerations, however, the City Council has determined that this impact is acceptable because of specific overriding considerations. . . . Significant Cumulative Effect: Potential land use incompatibilities between Otay Ranch and the alternate county landfill sites. [FPEIR, Volume 2, p. 6-9] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will substantially lessen the significant environmental effect as identified in the Final Program EIR. However, since a site is yet to be selected, land use interface impacts are unknown and thus remain potentially significant. Pursuant to section 15091 (a) (3), as described in the Statement of Overriding Considerations, however, the City Council has determined that this impact is acceptable because of specific overriding considerations. Mitigation: The following mitigation measure is feasible and is required either as a condition of approval or is made binding on the Applicant through these Findings. Page 147 The SPA plans developed for the areas of the Otay River parcel adjacent to any of the alternate San Diego County landfill sites shall contain landscaping and buffering standards designed to prevent land use interface impacts such as health hazards, noise, lighting, and loss of privacy between Otay Ranch and these adjacent land uses. The SPA plans shall be reviewed by the City of Chula Vista City Council and the County of San Diego Board of Supervisors to ensure that proposed standards are adequate to prevent significant interface impacts from occurring. :FPEIR, Volume 2, p. 6-10] B. LANDFORM ALTERATION/AESTHETICS Significant Cumulative Effect: Change in character from rural to urban development. [FPEIR, Volume 2, p. 6-13] Finding: This impact is considered unrnitigable. Pursuant to Section 15091 (a) (3) of the State CEQA Guidelines, there are no feasible measures that would mitigate the impact below a level of significance. As described in the Statement of Overriding Considerations, however, the City Council has determined that this impact is acceptable because of specific overriding considerations. . . . Significant Cumulative Effect: Overall landform alteration, creation of manufactured slopes, and grading of steep slopes. [FPEIR, Volume 2, p. 6-13] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will substantially lessen the Project's contribution to the significant environmental effect as identified in the Final EIR. Cumulative impacts of the other projects are substantially lessened through similar measures as well as through enforcement of the County's 1-73, Hillside Development Policy, Policy 15.K.7 of the Jamul/Dulzura Subregional Plan, the City of Chula Vista's Hillside Modifying District Ordinance and other regulations and policies of Chula Vista's General Plan Land Use Element, and the City of San Diego's Hillside Review Overlay Zone. In spite of these regulations and site-specific design and grading measures, cumulative impacts to landform alteration and aesthetics are considered significant and only partially rnitigable. This impact, therefore, is considered unrnitigable and significant. Pursuant to Section 15091 (a) (3) of the State CEQA Guidelines, then: are no other feasible measures that would mitigate the impact below a level of significance. As described in the Statement of Overriding Considerations, however, the City Council has determined that this impact is acceptable because of specific overriding considerations. Page 148 Mitigation Measures: The following mitigation measure is feasible and is required as a condition of approval and is made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 6-13] . Applicant shall implement the measures contained in Section VIII of this document (for example, the use of contour grading, the implementation of design guidelines, and the incorporation of planned open space) would reduce Otay Ranch's contribution to cumulative impacts. . . . Significant Cumulative Effect: The cumulative effects of night lighting. [FPEIR, Volume 2, p. 6-13] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final Program EIR. Mitigation Measures: The following mitigation measure is feasible and is required as a condition of approval and is made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 6-13] . Compliance with the San Diego County Code Sections 59.101-115 (the County Dark Sky Ordinance). Compliance will be required even if an SPA is being developed under the jurisdiction of the City. C. BIOLOGICAL RESOURCES Significant Cumulative Effects: Significantly decrease key biological resources in southwestern San Diego County. [FPEIR, Volume 2, p. 6-17] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will substantially lessen the significant environmental effect as identified in the Final Program EIR. The Project mitigates effects to key resources through design features; however, not to a level below significance. The cumulative reduction of the sensitive coastal sage scrub habitat mosaic which supports California gnatcatcher, cactus wren, Otay tarplant, and vernal pool habitat within the boundaries of the Final Project is unrnitigable due to the magnitude of the effect. This impact, therefore, remains significant. Pursuant to Section 15091 (a) (3) of the State CEQA Guidelines, there are no other feasible measures that would mitigate the impact below a level of significance. As described in the Statement of Overriding Considerations, however, the City Council has determined that this impact is acceptable because of specific overriding considerations. Page 149 Mitigation Measures: The following mitigation measures are feasible and are required as a condition of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 6-18] The cumulative effects shall be mitigated through a combination of measures which ultimately concentrate on protecting the key resource areas and tying these areas together onsite and with adjacent offsite areas to create a viable regional open space preserve (see Section VIII of the EIR:. The key component of this mitigation is the Resource Management Plan (RMP) which establishes minimum standards to be achieved with the development of the Project. Sensitive habitats on Otay Ranch shall be restored or preserved to provide mitigation for both the loss of habitat and sensitive species due to development of the property. Restoration of disturbed habitats will increase the resource value of the habitat, as well as potentially provide links to key resource areas on both local and regional levels. Habitat restoration in areas that connect two or more otherwise isolated key resource areas will allow migration between subpopulations resulting in more viable populations. . Restoration of habitat in highly biodiverse areas can play an important role in effectively increasing the population size of sensitive species. Disturbed portions of the Otay River Valley will be restored back to an intact riparian habitat, which will allow for an increase in the number of least Bell's vireo breeding pairs that will utilize the expanded habitat. Restoration of Diegan coastal sage scrub habitats will potentially contribute to the maintenance of the California gnatcatcher population on Otay Ranch, and disturbed coastal sage scrub habitat adjacent to areas currently utilized by cactus wren could be restored with maritime succulent scrub in order for the cactus wren population to expand. During the administrative hearings it was recommended by the public and various resource agencies that adoption of the Project be delayed until adoption of an MSCP or NCCP. Such a measure is infeasible because there is no certainty regarding the time line for adoption of such a plan. The Otay Ranch Project has been in the processing pipeline for over three years. There is a demand in the South County for a wide variety of housing types; the Project intends to assist in meeting that demand. It would be infeasible for economic and planning reasons to delay approval of the Project until adoption of the MSCP /NCCP. D. CULTURAL RESOURCES Significant Cumulative Effect: The loss of approximately 75 percent of the known cultural resource sites in the combined cumulative study area. [FPEIR, Volume 2, Page 150 p. 6-26 through 6-29] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final Program EIR. Mitigation Measures: The following mitigation measures are feasible and are required as a condition of approval and are made binding on the Applicant (if established in the region) through these Findings. [FPEIR, Volume 2, p. 6-29 through 6-30] A regional preservation plan with specific cultural resource preservation goals shall be established to determine what kind of database the managing agencies desire to retain after the region as a whole has been developed. Once a plan and goals have been established, a specific resource preservation plan developed by the Applicant for the Otay Ranch that focuses on database diversity in terms of values shall be established and implemented specifically for the Otay Ranch Project. This plan shall conform to regional preservation goals, establish realistic preservation measures that address secondary impacts and long term preservation and access to the database. . A regional repository shall be established and cultural material from the Project and the region shall be preserved in this repository. Furthermore, funding for its long-term preservation shall be secured to ensure preservation of the resources; the Applicant shall pay a fair share. E. GEOLOGY AND SOILS Significant Cumulative Effect: An increase in population and property that would be exposed to the effects of seismic ground shaking from local active faults, such as the Rose Canyon and Coronado Bank faults. [FPEIR, Volume 2, p. 6-30] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final Program EIR. Implementation of the proposed mitigation measures presented in Section 3.5.3 of the Final Program EIR would mitigate cumulative impacts of seismic shaking, geologic hazards and soil conditions to below a level of significance. Mitigation Measures: The following mitigation measures are feasible and are required as a condition of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 6-31] Page 151 . Cumulative impacts related to seismic ground shaking shall be avoided by designing and constructing proposed projects in accordance with the Uniform Building Code (UBC), state-of-the-art seismic design parameters of the Structural Engineering Association of California (SEAOC), and applicable local building codes as required by local agencies. No additional measures are necessary for seismic effects. . All significant cumulative geologic and soil impacts shall be mitigated through appropriate site-specific investigations and implementation of standard construction and design methods as described in Section VIII of the FPEIR F. PALEONTOLOGY Significant Cumulative Effect: Increased probability of disturbance to significant paleontological resources. [FPEIR, Volume 2, p. 6-31] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final Program EIR. Implementation of the proposed mitigation measures presented in Section 3.6.3 of the Final Program EIR for all developments in the cumulative impact area would mitigate cumulative impacts to below a level of significance. Mitigation Measures: The mitigation measures outlined in Section VIII of the FPEIR are feasible and are required as a condition of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 6-32] G. AGRICULTURAL RESOURCES Significant Cumulative Effect: Loss of prime farmland and grazing land. [FPEIR, Volume 2, p. 6-35] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will substantially lessen the significant environmental effect as identified in the Final Program EIR. The impacts, however, still remain significant. Pursuant to Section 15091 (a) (3) of the State CEQA Guidelines, there are no feasible measures that would mitigate the impact below a level of significance. As described in the Statement of Overriding Considerations, the City Council has determined that this impact is acceptable because of specific overriding considerations. Mitigation- Measures: The mitigation measures outlined in Section VIII of the FPEIR are to be feasible and are required as a condition of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 6-31] Page 152 H. MINERAL RESOURCES Significant Cumulative Effect: Loss of aggregate mineral resources. [FPEIR, Volume 2, p. 6-35 through 6-36] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will substantially lessen the significant environmental effect as identified in the Final Program EIR. The phasing of development of the San Ysidro and Proctor Valley parcels to allow for the extraction of mineral resources before construction would effectively mitigate impacts to mineral resources. However, should this not be feasible the cumulative impact to mineral resources would be significant and unmitigable. Pursuant to Section 15091 (a) (3) of the State CEQA Guidelines, there are no other feasible measures that would mitigate the impact below a level of significance. As described in the Statement of Overriding Considerations, however, the City Council has determined that this impact is acceptable because of specific overriding considerations. Mitigation Measures: The following mitigation measures are feasible and are required required as a condition of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 6-37] . Project phasing in the San Ysidro and Proctor Valley parcels shall allow for mineral extraction before conflicting development occurs, if feasible. . Compatible land uses shall be developed in areas where mineral extraction would likely occur. I. WATER RESOURCES AND WATER QUALITY Significant Cumulative Effect: Degradation of water quality and a reduction in ground-water basin recharge. [FPEIR, Volume 2, p. 6-38] Finding: Purs)lant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations have been required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final Program EIR. Mitigation Measures: The following mitigation measures are feasible and are required as a condition of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 6-40] Page 153 Additional surface water modeling shall be required upon preparation of a final design plan at the SPA level. The standards identified in Section VII of the FPEIR shall be met. This modeling shall analyze: . Location and number of detention basins necessary to control the peak discharge at an acceptable level; . Peak discharge values at specific locations important to the structural design of bridges, etc.; and . Total volume of surface water discharge during a design storm. J. TRANSPORTATION. CIRCULATION. AND ACCESS Significant Cumulative Effect: Impacts on short-term and long-term traffic operations. [FPEIR, p. 6-40] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are in, or incorporated into, the Project which will substantially lessen the significant environmental effect as identified in the Final Program ElK Impacts, however, will remain significant after implementation of the mitigation measures. Pursuant to Section 15091 (a) (3) of the State CEQA Guidelines, there are no feasible measures that would mitigate the impact below a level of significance. As described in the Statement of Overriding Considerations, the City Council has determined that this impact is acceptable because of specific overriding considerations. Mitigation Measures: The following mitigation measure is feasible and is required as a condition of approval and is made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 6-41] . Any project within the jurisdiction of the City of Chula Vista shall be required to meet or exceed the traffic standards set forth by the City of Chula Vista Municipal Code section 19.09.040 (I). . Projects in the region will be required to instruct appropriate improvements and contribute their proporitonate share towards construction of regional facilities. K. AIR OUALITY Significant Cumulative Effect: Stationary and vehicular emissions would aggravate the San Diego Air Basin's current inability to attain state and federal air quality standards. [FPEIR, Volume 2, p. 6-41 through 6-42] Page 154 Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations have been required in, or incorporated into, the Project which will substantially lessen the significant environmental effect as identified in the Final EIR. These measures, however, will not reduce impacts below a level of significance. Pursuant to Section 15091 (a) (3) of the State CEQA Guidelines, there are no feasible measures that would mitigate the impact below a level of significance. As described in the Statement of Overriding Considerations, however, the City Council has determined that this impact is acceptable because of specific overriding considerations. Mitigation Measures: The following mitigation measures are feasible and are required as a condition of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 6-43] The cumulatively significant degradation of regional air quality can be mitigated but not below a level of significance by implementing public transit and trip reduction programs onsite and by requiring housing and building designs that minimize air pollutant emissions. It is a policy of the City to require participation in strategies listed above. The Lead Agency has required Applicants within the Otay parcel to contribute their fair share to LRT. . Project-specific and regional measures as discussed in Section VII of the FPEIR are required. L. NOISE Significant Cumulative Effect: Exposure or residential and other noise sensitive land uses to vehicular noise levels exceeding local noise standards. [FPEIR, Volume 2, p. 6-43] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will substantially lessen the significant environmental effect as identified in the Final Program EIR. Impacts, however, may not be reduced to a level below significance. Pursuant to Section 15091 (a) (3) of the State CEQA Guidelines, there are no feasible measures that would mitigate the impact below a levei of significance. As described in the Statement of Overriding Considerations, the City Council has determined that this impact is acceptable because of specific overriding considerations. Page 155 Mitigation Measures: The following mitigation measures are feasible and are required as a condition of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 6-43] Future acoustical studies shall be required for residences and other noise sensitive land uses exposed to exterior noise levels of 60 CNEL or greater for all projects within the jurisdiction of the agency. Future acoustical studies shall be required for Least Bell's Vireo habitat and California Gnatcatcher habitat exposed to noise levels of 60 DBA Leq or greater for all projects within the jurisdiction of the agency. Noise attenuation techniques, such as construction of walls and/or earthen beams between sensitive uses and significant noise sources shall be required to achieve standards as discussed in Section VIII of the FPEIR. M. PUBLIC SERVICES AND FACILITIES Water Availability and Supply Significant Cumulative Effect: Availability of water to serve region. [FPEIR, Volume 2, p. 6-45] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final Program EIR. Implementation of the measures described below shall ensure that potentially significant cumulative impacts to water availability and demand are mitigated to below a level of significance through the implementation of site-specific improvements as identified by future studies. If it is determined that adequate water supply is not available at the time of individual SPA Plan review, the Project will not proceed. Mitigation Measures: The following mitigation measures are feasible and are required as a condition of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 6-45] . Mitigation measures shall include the preparation pf water facilities studies and financing plans to identify specific impacts on the water' supply system to determine the significance of those impacts on water facilities, and to identify measures that would reduce or eliminate the effects. These studies and plans shall include an analysis of the cumulative water demand and survey of the water necessary to serve existing, proposed, and approved projects within each service zone. Page 156 . Each Applicant shall be required to construct Project-specific improvements and to construct, or contribute toward the cost of constructing, any regional facilities required by the study with respect to the cumulative water demand as a result of new development. . . . Wastewater and Sewer Servic(,; Significant Cumulative Effect: Increased flow generation. [FPEIR, Volume 2, p. 6-46] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final Program EIR. Implementation of the measures described below shall ensure that adequate measures are identified during site-specific analyses that will mitigate potentially significant cumulative impacts with respect to wastewater and sewer service to below a level of significance. Mitigation Measures: The following IDltIgation measures are feasible and are required as a condition of approval and are made binding on the Applicant through these findings. [FPEIR, Volume 2, p. 6-46J . Each Applicant shall prepare and obtain appropriate jurisdiction approval of sewer basin studies and financing plans in order to identify specific impacts, to determine the significance of the effect, and to identify measures that would reduce or eliminate the effect upon the sewerage system. These studies and plans shall include an analysis of the cumulative sewage flow to be generated by existing, proposed, and approved projects within each basin. . Each Applicant shall be required to construct Project-specific improvements and to construct, or contribute toward the cost of constructing, any regional facilities required by the study for wastewater conveyance, treatment, and disposal in proportion to the flows contributed by each development with respect to the cumulative flows from the new developments. . . . Inte!?rated Waste Manaiement Significant Cumulative Effect: Declining landfill capacity in the region. [FPEIR, Volume 2, p. 6-47J Page 157 Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final Program EIR. Implementation of the measure described below shall ensure that adequate measures are identified during site-specific analyses that will mitigate potentially significant cumulative impacts with respect to solid waste management and disposal to below a level of significance. Mitigation Measures: The following mitigation measures are feasible and are required as a condition of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 6-47] . Each Applicant shall prepare and obtain appropriate jurisdiction approval of solid waste facilities studies and financing plans to identify specific impacts, to determine the significance of the effect, and to identify measures that would reduce or eliminate the effect on the integrated waste management system, such as recycling facilities and landfill capacity. These studies shall include an analysis of the cumulative solid waste generation as a result of existing, proposed and approved projects. Each Applicant shall be required to construct Project-specific improvements and contribute towards the cost of constructing, any regional facilities required by the study with respect to the cumulative solid waste generation as a result of new development. . . . Police and Fire Protection and Emergen<;y Medical Services: Significant Cumulative Effect: Need for additional facilities to provide services. [FPEIR, Volume 2, p. 6-48] Finding: Pursuant to Section 15091 (a) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final Program EIR. Implementation of the measures described below shall ensure that adequate measures are identified during site-specific analyses that will mitigate potentially significant cumulative impacts on police and fire protection, and emergency medical services to below a level of significance. Mitigation Measures: The following mitigation measures are feasible and are required as a condition of approval and are made binding on Applicant through these findings. [FPEIR, Volume 2, p. 6-48] Page 158 . Each Applicant for a discretionary project shall prepare and obtain the appropriate jurisdiction's approval of police protection, fire protection, and emergency service facilities. Studies and financing plans to identify specific impacts, to determine the significance of the effect, and to identify measures that would reduce or eliminate the effect on police protection, fire protection, and emergency services shall be prepared if appropriate. These studies shall include an analysis of the cumulative demand for these services as a result of existing, proposed and approved projects. Each Applicant shall be required to construct Project specific improvements and to construct, or contribute towards the Cost of constructing, any regional facilities required by the study with respect to the cumulative demand for police protection, fire protection, and emergency service as a result of new development. . . . Schools: Significant Cumulative Effect: Projects would generate the need for additional schools. [FPEIR, Volume 2, p. 6-49] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final Program EIR. Implementation of the measures described below shall ensure that adequate measures are identified during site-specific analyses that will mitigate potentially significant cumulative impacts with respect to schools to below a level of significance. Mitigation Measures: The following mitigation measures are feasible and are required as a condition of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 6-49] . Each Applicant shall prepare and obtain appropriate jurisdiction approval of school facilities studies and financing plans to identify specific impacts, to determine the significance of the effect, and to identify measures that would reduce or eliminate the effect on schools. These studies shall include an analysis of the cumulative demand for school facilities as a result of existing, proposed and approved projects. . Each Applicant shall be required to construct Project specific improvements and to construct, or contribute towards the cost of constructing, any regional facilities required by the study with respect to the cumulative demand for school facilities as a result of new development. Page 159 . . . Library Service: Significant Cumulative Effect: Additional library facilities and books would be required. [FPEIR, Volume 2, p. 6-50] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final Program EIR. Implementation of the measures described below shall ensure that adequate measures are identified during site-specific analyses that will mitigate potentially significant cumulative impacts with respect to library service to below a level of significance. Mitigation Measures: The following mitigation measures are feasible and are required as a condition of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 6-50 through 6-51] . Each Applicant shall prepare and obtain appropriate jurisdiction approval of library facilities studies and financing plans to identify specific impacts, to determine the significance of the effect, and to identify measures that would reduce or eliminate the effect on libraries. These studies shall include an analysis of the cumulative demand for library facilities as a result of existing, proposed, and approved projects. . Each Applicant shall be required to construct Project specific improvements and to construct, or contribute towards the cost of constructing, any regional facilities required by the study with respect to the cumulative demand for library facilities as a result of new development. . . . Parks. Recreation. and Open Space: Significant Cumulative Effect: Additional regional and local parkland, open space, and recreational facilities would be required to serve the cumulative impact area. Significant cumulative impacts would also occur to waterfowl hunting in the area. [FPEIR, Volume 2, p. 6-51] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final Program EIR. Implementation of the measures described below shall ensure that adequate Page 160 measures are identified during site-specific analyses that will mitigate potentially significant cumulative impacts with respect to the provision of parks, recreation, and open space to below a level of significance. Mitigation Measures: The following mitigation measures are feasible and are required as a condition of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 6-52] . Each Applicant shall prepare and obtain appropriate juriSdiction approval of the park, recreation, and open space studies and financing plans to identify specific impacts, to determine the significance of the effect, and to identify measures that would reduce or eliminate the effect on these services. The establishment of the management preserve through the RMP, construction of the various community and neighborhood parks, and installation of the regional bike, equestrian, and hiking trail network would serve the needs of Otay Ranch, and also provide for recreation OPPortunities for the entire region. . . . Electricity and Gas: Significant Cumulative Effect; Additional substations and associated distribution lines would be required to serve the cumulative impact area. [FPEIR, Volume 2, p. 6-52] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final Program EIR. Mitigation Measures: The fOllowing mitigation measures are feasible and are required as a condition of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 6-53] . The Project Applicant shalJ work with SDG&E during all stages of electrical and gas facilities planning to minimize the disturbance to sensitive resources. . Land uses adjacent to the SDG&E transmission lines shall be subject to review and comment by SDG&E. . . . Other Public Services: Page 161 Significant Cumulative Effect: An increased demand for health and medical facilities, senior and social services, cemetery facilities, child care facilities, and animal control facilities in the cumulative impact area. [FPEIR, Volume 2, p. 6-53] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final Program EIR. Implementation of the measures described below shall ensure that potentially significant cumulative impacts with respect to the provision of health and medical and senior and social services, cemetery, child care and animal control facilities are mitigated to below a level of significance. Mitigation Measures: The following mitigation measures are feasible and are required as a condition of approval and are made binding on the Applicant through these Findings. [FPEIR, Volume 2, p. 6-54] The Applicant shall work in close coordination with the relevant service providers and the appropriate jurisdictions to ensure the provision of adequate facilities. . . . N. RISK OF UPSET Significant Cumulative Effect: The potential risk of adverse health effects associated with the use, transport, and storage of hazardous materials and generation of hazardous waste would increase. [FPEIR, Volume 2, p. 6-54] Finding: Pursuant to Section 15091 (a) (1) of the State CEQA Guidelines, changes or alterations are required in, or incorporated into, the Project which will avoid the significant environmental effect as identified in the Final Program EIR. Implementation of the measures described below in addition to adherence with applicable laws and regulations would mitigate significant impacts below a level of significance. Mitigation Measures: The following mitigation measures are feasible and are required as a condition of approval and are made binding on the Applicant through these findings. [FPEIR; Volume 2, p. 6-54] . The mitigation measures identified in Section VIII would reduce the risk of upset associated with the development of Otay Ranch. Application of these measures to the other projects in the area would reduce the cumulative risk of adverse public health effects associated with the use, storage, and transport of hazardous materials to below a level of significance. Page 162 X. FEASIBILITY OF POTPNTIAl. Project t\L1ERNATI~.s B,~o" th, P'oj,,, will ~"" ,"m, Oo,"id,bl, .gnifi~" oo~w"""'''''' off,,,, " "'Hi",d 'bo", c... &'"00 VIu), !h, ei~/Cooo~ mo" """'id" th, ""ibili~ of "'Y oo~;w,,",'nJ'", '"p'''i., "'lorn,"" 10 !h, PWjOCJ, " finaIl, 'pp''''''d. Th, ei~ mo" '''"''10 wh"h" 0",., more of !h,,, "'lorn,""" <>onJd "oid., ,"I"'o,"",~ I'~M Ih, Oo,~oid'bJ, .gnifi~o, '""w,,",ooW ,ff,,,,. i' 0 , Ii,,, i , M 0 ~h,,~ (1988) 198 "" APp3d 433 [243 e,l. Rpo. 727J; ....al.otJ Pob. R''"''re, Cod, ""ioo 21002. BOo""" i, " , jOdgmM' "'" wb,th" 00 "Ioma,,,,, i, 'o....oom'o'''I' '"P"i", (i.,., 0", """"'"" P""'~", more ".,iti" biolo","" """ "'" ""'th" """" 'h, d,""~ 0"'~"'Y '0 '"Pport LR1) thm, fiodio", 000'"" o,d oomp"" ," of ,h, alternatives analyzed in the FPEIR. 10 goo,"", io prep"'iog ,"d 'dop"og fiodio", , I,,,,, ogM'Y o"d 00' "'''''mil, ""dre~ 'h, f'''ibili~ of both mi"g";,,o m""",,,, "'" oo~w,,",OOtall, '"P'ri", ''''nm"~", WhM ""OlompI'"og th, 'PI'w"," of, PWj", wi!h .ignifi,o" imp".. Wb", tho .igoit""'" imp'd' "'" '" mi"""", '0 00 '''''plabl, (;"i",,,,,,,,,,) 1'''1 ,"1'1, b, ,h, 'dop"oo of mitig,""" m,,,",,,,, tho 'goo'Y, io d""'og i. fiodi"" h" 00 oblig"'ioo '0 "'",id" ,h, f'",ibili~ of oo~womooWI, '"pori., "'Io"","~m, "00 if th,b im"", woold '" I", ""re 'ho, tho" 0' .b, PWj,,, " midg"'d. , i b fm, m 0 i i 0 ~ R of tho Voi~'rni", of e'Ii'OWi~ (1988) 47 Coi..3d 376 [253 "" Rplt'. 4"J; Laorel HiI" Hom,ow"," "'''''i'''oo ~. Gi C~'m'iI (1978) 83 CoiApp.3d 515 [147 e". Rp.,. 842J... ,I," Kio~ C~ 0 F,,,,, B " ~ i f Hoo" (1990) 221 CoiApp.3d "2 [270 Cal. Rp". 650J. """'dio"", f., thi. "'ojOCJ, io ""op"og tho Hodio", oo"""oiog "'oj'd ,,,,,","~,,,, ,h, Ci~ Coun'iI "'''''d,"",1y .b"", M~w,,",OOtal imp,,,, 'h", f., tho fino", 'Ppm"d PWj,d, 're .",,,,,,,., ood ""'"". '" '''id'd ., '""',,"""1, I"'''",d tbwo.. mitigation. "'Irere, " io !h;, PWjOCJ, ,;go"'""" M....oomM." 'ff,,,, re_ "00 ,"" 'ppli,,"oo of ," f''''bl, mi"","oo ore"",,,, IdOOtit1'd io th, Finn! "'08Olm EiB. th, d'''.onnmk,rn mo" """"10 the Prnj", "'_IN", idM'''''d In ,h, Finn! "''''''''' EiB. Vod" th"" 'it",m.""",, CEQA requIre, fiodl,,,, 00 !h, f""ibiU~ of P<Oj'd """"'ti~". '''''.bl,' m,,,,, ~p,bk of h'l". ''''''mpli''red In , _ Dtonn" withio , ''''"''bl, lim,. Inkiog "OOOmi" oo~<oomoolnl, I'g", 'adoi "'" """OOlogkoI f,,,o~ '0," ''''''Ont (CEQA Guidelines section 15364) If "" ""j'd """"'""" "" r"'ibJ, !he de"",,"",,,,," m~, 'dop, , SIalomoo' 0' "'e"iding COlISide""io", with ",,",d '0 th, "'oj,d, If th", i. , ""ihi, ''''<O''i" '0 th, ""j,d, th, d";,ioom,"'~ m"" d'od, wh'!h" I, " oo....O"""o.oil, '"p"i., 'o,h, P<oj'd. Pwp""d P<oj,,, ",,,,,,,,"~,,, oo$id",d m"" b, 00'" whi,h """'Id f"'ibly "'''0 'h, b,., ohj'div", of tho P<Oj", " H""",,,, tho Guid'Ii,", "'" "q'h, 00 EiB '" "'-, "'''''''iv" ""pobl, of'llmimu;og" '""<oomeDl" off"" '",0 ff th"" """","", Page 163 "would impede to some degree the attainment of the project objectives." [CEQA Guidelines section 15126 subd.( d)]) These Findings contrast and compare the alternatives where appropriate in order to demonstrate that the selection of the finally approved Project, while still resulting in significant environmental impacts, has substantial environmental, planning, fiscal and other benefits. In rejecting certain alternatives, the decisionmakers have examined the finally approved Project objectives ...ad weighed the ability of the various alternatives to meet the objectives. The decisionmakers believe that the Project best meets the finally approved Project objectives with the least environmental impact. The objectives considered by the decisionmakers are: . A new community through long-range planning, coordination, and development of Otay Ranch; A balanced housing mix to address the local and regional housing demand; . Housing in proximity to employment centers; . A plan for open space and regional and community parks; A program for the long-term comprehensive management and protection of natural resources; . A four-year university; . A range of commercial and business uses to complement existing commercial centers in the area; provide such uses to establish a connection between Otay Mesa and the United States/Mexican border and to the City of Chula Vista and the San Diego metropolitan area; (FPEIR, Volume 2, p. 201) The Final Program EIR for the Project examined a broad range of reasonable on site and off site alternatives to the Project to determine whether it could meet the Project's objectives while avoiding or substantially lessening one or more of the Project's significant, unavoidable impacts. These findings examine each alternative to determine feasibility. The term feasible is defined in the CEQA Guidelines as "capable of being accomplished in a successful manner within a reasonable period of time taking into account economic, environmental, legal, social and technological factors." (CEQA Guidelines section 15364) A. PHASE I-PROGRESS PLAN ALTERNATIVE Page 164 D'd" th, Ph,,, I-Pro",,,, P"", Alre""'d", , m""""'m of 29,773 "';dMd" dw",", oof. woold b, "''''''"_ 00 8.250 =" of J,"d whh'o th, 23,08B-"re ,;,,_ Adopdo, ",d i""",mMtadoo of", """"'v, woold ,",oft io 'PP'o>Ima',Jy 86,456 new residents in the Project area. Approximately 54 percent of the housing proPosed under this alternative would be single-family residences, while the remainder would be multi-family attached uruts. Th, Ph,,, I-Pro""AA P"", AI,,_v, iodod" , "',,''''' """I" i, "'" u,,'" tho "',""" P~'d ro, th, fioaUy 'PProv'd Proj',,- Admd"""Jy, 'h, '"',"y 'PProv'd Proj", pro"," mo" "''''hiv, ,<><01" "'d "'''''dv, b,bf", io P""<oJ" 10 Pogg; Ca'yo, "'d SaJ, C'''k ,,",yo, "'d ,"oth of th, Jok" ''''0 th, Ph,,,, I-"'O""AA PI", Alre""'d,,_ Th, Proj,,,, " mo" romp"fbl, wJth th, O"y La'dJiU """'" "'d 'b, N,.oo "'d 51"'0 Qoany b,,,,,", 'b,,, " , "'..", boff" ProP""d " th, U"'''y approved Project. Wi'b "gMd '0 I"'dfo= "Ie"doo "'d ""b'da, th, Ph", I_Pro""" P,,,, Alternative has a greater impact on slopes and ridges. W'th "gMd to bf olog'O<I ',"0"", tho Pb"" 1_ Prog"" PI", "" .",,,, ;mp,," in the following areas: . Coastal sage scrub . Maritime Succulents . Needlegrass grassland . Wetlands . Vernal Pools . A number of high priority plant species . A number of second priority plant Species . A number of third and a nUmber of fourth priority plant species . Coastal cactus wren habitat ' G"''''''b" h'b'ta, (m P"""'I", SaJ, C'''k. Wolf C'"yoo ,"d Pogg; Canyon) , Imp,," to 'b, RJ"~'d, Foi,> Shrimp "'d S", Di'go v'ro" pooJ fu'ry 'h'imp . Harbison's dun skipper . Herme's copper . Thomes hairstreak Quino checkerspot . A nUmber of second priority animal species Th, Pb", 1-"'0""" PI", "gillfi""Uy 'm""", "giooa! wfldUf, OOIT;do~ by sigruficantly COnstrairung movement within those corridors. " "'mp,",o, wJlb th, Ph", 1-"'0"'", PJ... th, fio,"y 'PP''''''d "'oj,,,, 00",,,", more provisions for intersection improvements to assist in the movement of traffic Page 165 and requires certain levels of service to be met on all circulation element roads. With regard to transit, the finally approved Project restricts development beyond 15,000 units, or 4,000,000 square feet of commercial, until the funding and construction is assured for LRT. The City Council therefore finds that because of the above described significant unrnitigable impacts the finally approved Project is environmentally superior to the Phase I-Progress Plan. B. PHASE II-PROGRESS PLAN Under the Phase II-Progress Plan Alternative, a maximum of 29,908 dwelling units would be constructed, resulting in a potential population of approximately 83,980. The Phase II-Progress Plan falls between the Phase I-Progress Plan Alternative and the Fourth Alternative in terms of developed area. Residential uses would be located on 8,038 acres, approximately 55 percent of the total being detached homes. Land uses would generally be arranged in villages, with most of the proposed homes (23,913 residences) located in the 12 villages located on the Otay River parcel. The Proctor Valley parcel would feature two villages, while San Ysidro would be developed with one village. Rural estate development is also planned for the eastern parcels. In the Final Project, the following changes were made to the Phase II-Progress Plan Alternative: The Preserve was expanded to protect more sensitive species and more sensitive habitats, particularly in Poggi Canyon and Salt Creek Canyon. . Larger buffers were added to allow continued operation of the Landfill and Nelson and Sloan Quarry. . Development was eliminated from many, but not all, ridges and slopes. The Project contains a condition that not more than 17 percent of steep slopes be developed. . Wildlife corridors were significantly improved by eliminating development constraints to wildlife movements. . Additional intersection improvements were incorporated to assure that transportation level of service standards are met. . Development cannot occur unless precise levels of service are met on circulation element roads. Page 166 . Development beyond 15,000 dwelling units, or 4,000,000 square feet of commercial, is restricted until funding of construction is assured for the LRT. . Construction of Alta Road across the Otay River was eliminated. The City Council therefore finds that the fiJ.1ally approved Project is environmentally superior to the Phase II-Progress Plan and therefore rejects the Phase II-Progress Plan. C. FOURTH ALlERNATIVF, The Fourth Alternative developed for the Otay Ranch represents a more moderate overall level of development than the New Town Plan and Phase I-Progress Plan alternatives. Development under the Fourth Alternative would result in an expected 27,418 residential units on 7,120 acres of land, resulting in a population of approximately 80,408 persons. Approximately 50.7 percent of the housing would be single-family detached units, while the remaining 49.3 percent would be attached multi-family units. This Alternative proposes construction of a conference center in the Jamul' Mountains, whereas the Project has eliminated any development in the Jamul Mountains. Development in the Jamul Mountains would significantly impact wildlife corridors by constraining wildlife movement in the major regional wildlife corridor between the Jamul Mountains and the San Miguel Mountains. The Fourth Alternative is an alternative that includes predominantly single-family residential development, without compact urban development. The lack of commercial development adjacent to residential development could significantly increase reliance on the single occupancy vehicle and results in more negative impacts to air quality and traffic. The Fourth Alternative blocks a continual linkage of coastal sage scrub across Rock Mountain from Wolf Canyon to the Otay River Valley. In comparison, the finally approved Project creates a continuous 450-foot wide linkage between Wolf Canyon and Otay River Valley. Residential development on the eastern parcel (east of the upper Otay Reservoir) would significantly impact Gnatcatcher habitat. The finally approved Project avoids development in that area. The finally approved Project restricts development beyond 15,000 units until funding of construction is assured for LRT. Additionally, levels of service must be met on all circulation element roads. The City Council therefore finds that the Project is Page 167 environmentally superior to the Fourth Alternative and rejects the Fourth Alternative. D. THE PROJECT TEAM ALTERNATIVE The Project Team Alternative also represents a moderate level of development on the Otay Ranch property. Approximately 6,317 acres of land would support the development of a maximum of 24,064 dwelling units for an estimated population .>f 67,046. The Project Team Alternative differs from the others mainly on its emphasis on multi-family residences (i.e., 60.4 percent of the total) and reliance on clustering. The Project Team Alternative requires that 60.4 percent of the units be devoted to medium, medium-high or high density development (multi-family). This high proportion of attached housing cannot be supported by projected market demand. ~ "Preliminary Market Overview" of the Otay Ranch Project in San Diego County, California, July 21, 1989, Kenneth Leventhal and Company, attached hereto as Exhibit A). Additionally, the Chula Vista General Plan does not support that high of a ratio of multi-family to single- family development. Finally, compatibility with existing adjacent communities would not be achieved by this mix. The impacts identified in the Project Team Alternative with regard to biology in Central Proctor Valley are even greater than the Phase I and Phase II-Progress Plans because the residential areas impact important biological habitat and wildlife movement. The Project, unlike the Project Team Alternative, requires certain levels of service to be met on all circulation element roads and restricts development beyond 15,000 dwelling units or 4,000,000 square feet of commercial until funding and construction of LRT is assured. The City Council therefore finds that because of the above described significant unrnitigable impacts the Project is environmentally superior to the Project Team Alternative. E. THE COMPOSITE GENERAL PLANS Development of the Otay Ranch property under the Composite General Plans Alternative would utilize the land use designations within the City of Chula Vista Eastern Territories Plan, the County of San Diego Otay and Jamul-Dulzura Subregional Plans, and the City of San Diego Otay Mesa Community Plan. Development of the Otay River parcel would be governed by the policies and provisions of the City of Chula Vista and City of San Diego, while both eastern parcels would be subject to County of San Diego plans and policies. Overall, buildout of this alternative would result in a maximum of 20,470 dwelling units at an average new density of 0.85 du/ac and generate approximately 62,487 residents. Page 168 Approximately 80.6 percent of the homes would be single-family, while the balance would be multi-family residences. The Composite General Plans Alternative contains no Resource Management Plan (RMP). Rather, the Composite General Plans alternative proposes less dense development on the San Ysidro and Proctor Valley parcels without any preserve contemplated within those two parcels. The result of that type of development would be: . No wildlife corridors . No preservation of contiguous blocks of sensitive habitat . Significant impacts on every species identified in the EIR The Final Project and the finally approved Project Objectives seek to establish a long term comprehensive management and protection program for natural resources. The lack of an RMP, in addition to eliminating a preserve, would also eliminate the proposed interpretive center currently proposed in the finally approved Project. The finally approved interpretive center would function as an educational center for cultural, biological and other resources. Additionally, the General Plan Composite Alternative envisions an east-west access road in the Otay River Valley leading to Salt Creek. This crossing has the potential to result in significant impacts to biological resources including a coastal sage scrub link between Wolfe and Salt Creek Canyons which serves as an avian wildlife corridor, could block the entry to Wolf Canyon which could impede mammal movement and potentially impacts sensitive plant species. Because the General Plan Composite Alternative results in significant biological impacts that are greater in degree than those that result from the Project (primarily as a result of the lack of an RMP) the City Council rejects this alternative even though there are some environmental benefits to this alternative. In making this determination the decisionmakers have balanced the necessity for creating a Preserve in perpetuity and creating densities sufficient to support transit against other potential environmental benefits of the environmental alternative. In addition to the biological impacts summarized above, the Composite General Plan Alternative envisions traditional suburban development rather than a village design; the village design is thought by planners to encourage more pedestrian and bicycle trips, thereby reducing reliance upon the automobile. Finally, the Final Project, unlike the Composite General Plan Alternative, restricts development beyond 15,000 dwelling units, or 4,000,000 square feet of commercial until funding of construction of LRT is assured and requires the Project to achieve Page 169 certain levels of service on circulation element roads. The City Council therefore finds that because of the above described unrnitigable impacts, the Final Project is environmentally superior to the composite General Plan alternative. F. LOW DENSITY ALTERNATIVE Adoption of this alternative would result in 7,423 acres of residential development and allow for a maximum of 10,287 dwelling units at an overall density of 0.44 du/ac and a population of approximately 32,544. Approximately 87.9 percent of the new units would be single-family, while the remaining 12.1 percent would be multi-family units. This alternative emphasizes single-family residential and represents the second lowest development density of the Project alternatives evaluated in the EIR. The Low Density Alternative does not include an RMP, consequently there is no provision for the preservation of the numerous species and habitats as defined in the finally approved Project. The lack of an RMP, in addition to eliminating a preserve, would also eliminate the proposed interpretive center currently proposed by the Project. The proposed interpretive center would function as an educational center for cultural, biological and other resources. The Low Density Alternative significantly impacts sensitive biological areas south of the lakes and on the Jamul Mountains. The Low Density Alternative also significantly impacts wildlife movement by constraining most of the wildlife corridors. The finally approved Project and the finally approved Project Objectives, seek to include a long term comprehensive management and protection program for natural resources. Under the Low Density Alternative such a program is not contemplated. In addition, the Low Density Alternative does not contain sufficient density to support transit options. Without sufficient densities to facilitate transit, reliance on the automobile will continue with resultant negative impacts to traffic and air quality. (See e.g. "Land Use Strategies for More Livable Places", Local Government Commission, June 1, 1992, Exhibit B, and "South Bay Rail Extension Study," SANDAG, February 5, 1991, Exhibit C, attached hereto) For these reasons, the City therefore rejects the Low Density Alternative as environmentally inferior to the Project. In balancing the need to create a long term comprehensive preserve and to plan development densities conducive to the provision of transit, the City Council determines that these goals are more important than the other potential benefits of this alternative Project. G. ENVIRONMENTAL ALTERNATIVE This alternative was developed to minimize environmental impacts of the finally approved Project, especially effects on steep slopes (greater than 25 percent) and Page 170 sensitive biological and archaeological resources. In comparison to the other project alternatives, the Environmental Alternative would result in the lowest gross density. Adoption of this alternative would result in 4,553 acres of residential development and allow for a maximum of 9,251 dwelling units at an overall density of 0.40 du/ac and a population of 28,863. Approximately 73.4 percent of the homes would be single-family detached units, while the remainder would be multi-family attached units. The Environmental Alternative does not contain a Resource Management Plan to manage the biological and cultural resources on site. The lack of an RMP, in addition to eliminating a preserve, would also eliminate the approved interpretive center currently approved by the finally approved Project. The proposed interpretive center would function as an educational center for cultural, biological and other resources. The Project Objectives seek to include a long term comprehensive management and protection program for natural resources. Under the Environmental Alternative such a long term program is not contemplated. The Environmental Alternative does not implement the land use and housing goals of the Interjurisdictional Task Force. Both the Project objectives and the Interjurisdictional Task Force objectives seek to provide a balanced housing mix to address local and regional housing demand. Since the environmental alternative proposes predominantly single-family dwellings (73.4%) this alternative does not meet the Project objectives of a balanced housing mix. In addition, the Environmental Alternative does not contain sufficient density to support transit options (See attached Exhibits B and C). Without sufficient densities to support transit, reliance on the automobile will continue with resultant negative impacts to traffic and air quality. Additionally, the finally approved Project restricts development beyond 15,000 units until LRT funding and construction is assured. The Project also requires that specific levels of service on all circulation element roads. For these reasons the City Council finds that the benefits of creating a long term comprehensively managed Preserve and the benefits of planning development conducive to transit outweigh other potential benefits of the environmental alternative. H. NO PROJECT ALTERNATIVE Under the No Project Alternative the property would remain in its present condition as rural agricultural land and undeveloped open space. It is anticipated that dry farming and grazing uses would continue to occur on the majority of the property. The eastern extension of East Orange Avenue and construction of Hunte Parkway would still occur to accommodate regional traffic from the EastLake development, Page 171 but both roadways would terminate at the edges of EastLake. SR-125 could still be extended through the Otay Ranch property by CalTrans. SANDAG estimates that the housing needed for projected growth in San Diego County exceeds what can be constructed pursuant to existing General Plan designations. The No Project Alternative would leave the property in its current undeveloped state. This alternative is rejected by the City Council because the finally approved Project provides the needed hous' Ig and jobs anticipated by SANDAG. The Project objectives also specifically identify the necessity to create a balanced housing mix, particularly in proximity to employment centers. In addition, the Project provides the decisionmakers with the opportunity to plan the entire parcel as a whole and thus more effectively pursue the preservation of biological and cultural resources and sensitive land forms on site. The No Project Alternative would make it difficult, if not impossible, to implement the circulation element and the County regional transportation system because necessary regional roads would not be constructed. Significant impacts from already approved zoning would occur in proximate communities such as the City of Chula Vista, the City of San Diego (San Ysidro) and West Otay Mesa if the regional facilities are not constructed. The No Project Alternative would not achieve the Project objectives of the Final Project to provide housing in proximity to employment centers currently planned for development in Otay Mesa. Finally, the No Project Alternative would allow for the continued grazing and farming of the site which results in continued degradation of the natural and cultural resources on site. The finally'approved Project Objectives seek to create a program for the long term and comprehensive management and protection of natural resources. This objective could not be met by continued farming and grazing onsite. For these reasons the City Council rejects the No Project Alternative as infeasible because it does not meet any of the Project objectives. Additionally, the failure to plan the entire site as a whole and provide for an extensive Preserve now could result in piecemeal sale of the property and non-contiguous habitat with questionable viability. In addition to the onsite alternatives the FPEIR also looked at a range of offsite alternatives. The following offsite alternatives are rejected for the reasons described. A. GREATER DULZURA OFFSITE ALTERNATIVE The Greater Dulzura Alternative site is bisected by SR-94 and is located immediately east of Otay Ranch. The community of Jamul, which has a "Country Town" designation in the general plan, is adjacent to the site to the northwest, while the Page 172 communities of Dulzura and Engineer Springs are within the site boundaries to the southeast. The site is under the jurisdiction of the County of San Diego, and is completely contained with the Jamul-Dulzura Sub-regional Planning Area. The site consists of approximately 22,850 acres and is owned by several hundred individuals and businesses. The topography is characterized by numerous small valleys and mountains, with elevations ranging from approximately 600 feet above mean sea level (MSL) at the western boundary to 2,650 and 2,840 feet above MSL in the mountains. Approximately 9,250 acres have slopes under 25 percent, and most of that area is assumed to be developable. Most of the balance of the site ( 13,600 acres) has slopes over 25 percent, and it is assumed that such lands would generally be withheld from development. This alternative has the potential to result in significant impacts to lower Otay Lake which is the Source of drinking water for the City of San Diego. With regard to transportation, extensive road upgrades would be required for this alternative site location. In addition, transit would be extremely difficult to implement because, unlike the Otay Ranch site, the Dulzura site is not contiguous to existing transit. The Greater Dulzura site has a greater impact on growth inducement since it would represent significant "leap frog development." For these reasons the Greater Dulzura Alternative is not considered by the decisionmakers to be an environmentally superior alternative. B. WEST RAMONA OFFSITE ALTERNATlYE The West Ramona Alternative site is an elongated area more than 11 miles long, located near the town of Ramona. In size it totals 23,400 acres, of which 10,175 acres have less than 25 percent slope and are considered potentially developable. Topography is varied, ranging from elevations of 500 and 700 feet above MSL in San Pasqual Valley at the northeast comer and adjacent to the San Vicente Reservoir at the far southern boundary, to 2,349 feet at the top of Mt. Woodson. Most of the developable acreage is located on a plain northwest of Ramona, with a smaller area of approximately 2,000 acres directly east of Poway along SR-67. Approximately 2,500 acres of the site are within Poway and San Diego City limits. The other 20,900 acres are under the jUrisdiction of San Diego County, primarily in the Ramona planning area; approximately 5,000 acres are being proposed for non-development within the northern Lakeside and southwestern North Mountain SPAs. The site is crossed by SR-67 and SR-78 and has more than 200 landowners. It is adjacent to an existing urban limit line at Ramona. The West Ramona Alternative is rejected as infeasible because it is not adjacent to existing developed areas. Consequently, the development of West Ramona would be more growth inducing because of the gap' between developed and undeveloped areas. Such non-contiguous development would result in greater air pollution impacts, greater traffic impacts and greater energy consumption. West Ramona has Page 173 multiple ownerships as opposed to one single ownership and for that reason the decisionmakers believe it would be more difficult to implement program-wide mitigation measures such as a preserve. Finally, the proximity of West Ramona to the research observatories in the county would create significant unrnitigable impacts to those facilities. For these reasons, the West Ramona Alternative is considered by the decisionmakers to be infeasible. C. EAST RAMONA OFFSITE ALTERNATIVE The East Ramona Alternative site consists of approximately 23,950 acres located immediately east of the urban limits of the town of Ramona, and west of the small community of Santa Ysabel. Other boundary landmarks include Sutherland Reservoir to the North, and Cleveland National Forest to the east and southeast. Topographic elevation ranges from 1,700 feet above MSL in one valley near the southwest corner, to 3,279 feet above MSL at Witch Creek Mountain near the eastern boundary. Approximately 11,000 acres have been identified as developable (less than 25 percent slope). Within the 1,950-acre balance, most areas consist of steep slopes, but there is also a substantial area of over 2,000 acres which has slopes of less than 25 percent. SR-76 passes through the site, which is almost completely within the county's Ramona planning area. A small area, less than 1,200 acres, lies within the North Mountain subregion. The site has more than 600 owners. The East Ramona Alternative is rejected as infeasible because it is not adjacent to existing developed areas. Consequently, the development of East Ramona would be more growth inducing because of the gap between developed and undeveloped areas. Such non-contiguous development would result in greater air pollution impacts, greater traffic impacts and greater energy consumption. East Ramona has multiple ownerships as opposed to one single ownership and for that reason the decisionmakers believe it would be more difficult to implement program-wide mitigation measures such as a preserve. Finally, the proximity of East Ramona to the research observatories in the county would create significant unmitigable impacts to those facilities. For these reasons, the East Ramona Alternative is considered by the decisionmakers to be infeasible. D. RANCHO GUEJITO OFFSITE ALTERNATIVE The Rancho Guejito Alternative site consists of approximately 23,700 acres, located over three miles east of the urban limits for the town of Valley Center, over four miles east of the City of Escondido, and three miles north of the northernmost reaches of the City of San Diego. Approximately 10,800 acres are considered potentially developable (with slopes less than 25 percent). Topography is quite varied, ranging in elevation from 1,500 feet above MSL to 4,221 feet above MSL at the peak of Pine Mountain. Potentially developable areas are located in several valleys and on several mesas in the southwestern two-thirds of the site. The site is Page 174 Project benefits. These benefits can be cited, if necessary, in a statement of overriding considerations. ~ CEQA Guidelines, ~ 15093.) The City finds that the Project would have the following substantial social, environmental and economic benefits: Environmental Protection and Preservation In addition to the air quality, circulation and social benefits outlined below, the Project's single ownership, size and density make possible the planning and financing of a comprehensive natural resources preserve. The Project proposes to convey 12,509 acres of natural open space, encompassing the Otay River Valley, Jamul Mountains and San Ysidro Mountains. A managed preserve operated in accordance with the Project's approved Resource Management Plan (RMP) will be established to preserve and manage the resources and ensure their viability. The preserve includes an open space system which incorporates public education programs, links community to natural areas, and preserves and restores sensitive habitats, special land forms and wildlife corridors. In addition, a system of paths and trails will connect the urban villages and their parks, forming a passive and active recreation network throughout the Project. The RMP adopted by the City Council has the following functions: . Functions as a plan-wide multi-species/habitat and cultural resources management program; . Provides the funding, phasing and ownership mechanisms necessary to effectively protect and manage on-site resources over the long term; . Plans for coordinated, controlled public use and enjoyment of the Management Preserve to be established as part of the RMP consistent with protection of sensitive resources; and, . By requiring irrevocable dedications of open space acreage, provides certainty that the open space will be preserved in perpetuity. (Otay Ranch General Development Plan/Sub-regional Plan, October 5, 1992, p. 51, Exhibit D). . Preserves/protects cultural resources. The RMP provides for management, resource enhancement and restoration research, education and interpretive activities to ensure that resource values in areas to be preserved are maintained and enhanced in perpetuity. The RMP also addresses cultural, paleontological, recreational and agricultural resource protection needs in addition to sensitive habitats. Finally, the RMP provides an opportunity to establish large blocks of interconnected natural open space. By linking the Otay Ranch Management Preserve system to large and adjacent publicly owned open space lands with resource values similar Page 177 STATEMENT OF OVERRIDING CONSIDERATIONS The Project would have significant, unavoidable impacts on the following areas, described in detail in Section VIII of these Findings of Fact (Direct Significant Effects and Mitigation Measures): . Land Use (Project-specific and cumulative); . Landform Alterations/Visual Quality (Project-specific and cumulative); . Biological Resources (Project-specific and cumulative); . Cultural Resources (Project-specific); Agricultural Resources (Project-specific and cumulative); . Mineral Resources (Project-specific and cumulative); . Transportation, Circulation and Access (cumulative); . Air Quality (Project-specific and cumulative); . Noise (Project-specific and cumulative). The City has adopted all feasible mitigation measures with respect to these impacts. Although in some instances these mitigation measures may substantially lessen these significant impacts, adoption of the measures will, for many impacts, not fully avoid the impacts. ' Moreover, the City has examined a reasonable range of alternatives to the Project. Based on this examination, the City has determined that none of these alternatives both (1) meets Project objectives, and (2) is environmentally preferable to the finally approved Project. As a result, to approve the Project the City must adopt a "statement of overriding considerations. pursuant to CEQA Guidelines sections 15043 and 15093. This statement allows a lead agency to cite a project's general economic, social or other benefits as a justification for choosing to allow the occurrence of specified significant environmental effects that have not been avoided. The statement explains why, in the agency's judgment, the Project's benefits outweigh the unavoided significant effects. Where another substantive law (e.g., the California Clean Air Act, the Federal Clean Air Act, or the California or Federal Endangered Species Acts) prohibits the lead agency from taking certain actions with environmental impacts, a statement of overriding considerations does not relieve the lead agency from such prohibitions. Rather, the decisionmaker has recommended mitigation measures based on the analysis contained in the FPEIR, recognizing that other resource agencies have the ability to impose more stringent standards or measures. CEQA does not require lead agencies to analyze "beneficial impacts. in an EIR. Rather, EIRs are to focus on potential "significant effects on the environment,. defined to be "adverse." (Pub. Resources Code, ~ 21068.). The Legislature amended the definition to focus on "adverse" impacts after the California Supreme Court had held that beneficial impacts must also be addressed. ~ Wildlife Alive v. Chickering (1976) 18 Cal. 3d 190, 206 [132 Cal.Rptr. 377].) Nevertheless, decisionmakers benefit from information about Page 176 network which minimizes the number and length of single passenger vehicle trips. Designed to encourage walking, biking and use of transit and reduce reliance on automobile, the Project clusters high density, high intensity development in villages near transit and light rail terminals. Jobs, homes, schools, parks and commercial centers are close by and linked by pedestrian and bicycle routes. The San Diego Association of Governments' (SANDAG) 1991 .South Bay Rail Transit Extension Study,. (Exhibit C) which examined the feasibility of providing additional rail transit to the South County area by connecting the existing trolley system to Otay Mesa, concluded that the alternative trolley alignment, through Otay Ranch, resulted in the largest increase in regional new trips of the alternatives studied. (South Bay Rail Transit Extension Study, SANDAG, February 5, 1991, Exhibit C.) Additionally, the Project limits development to 15,000 dwelling units or 4,000,000 square feet of commercial use unless funding for light rail is assured. . Social Benefits of Transit and Pedestrian-Oriented Development Pattern In addition to the improvement to air quality and congestion resulting from a reduced need for automobile trips, the Project's unique land plan will result in social benefits as well. Because most of the activities of daily living are within walking distance for most of the Otay Ranch population (particularly on the Otay Valley parcel), residents will benefit from the opportunity for increased mobility, particularly for those segments of the population who do not have the ability to drive, including the young, elderly and disable, and a sense of community. Comprehensive Regional Planning The Project provides the opportunity to comprehensively plan development which meets the region's needs for housing, jobs, infrastructure and environmental preservation. These benefits are made possible by the Project's size and scope, and the fact that it is being developed under a single owner. The General Development Plan for Otay Ranch includes a provision for regional purpose facilities and public services that are typically not undertaken for smaller development projects. The regional planning process undertaken for the Project involved long-range inter-jurisdictional coordination, ensuring maximum achievement of policies and regulations of both the City of Chula Vista and San Diego County. The benefits offered by the regional planning process utilized for the Project include the following: . Comprehensive consideration of the Project's cumulative effects Page 179 to those found on the Otay Ranch property, the RMP contributes to the creation of an overall regional open space system, providing more than 35,000 acres of interconnected open space in Otay Ranch and the immediate vicinity. Specifically, the preserve will result in the preservation of the following acreages of certain sensitive habitats which contain approximately 100 species of sensitive plants and animals: . 8,232 acres of coastal sage scrub (includes "limited development areas"). . 286 acres of maritime succulent scrub. . 265 acres of needlegrass grassland (includes "special resource study areas"). . 183 acres of vernal pools. . 75 acres of southern live oak riparian forest. . 16 acres of tecate cypress forest. . 180 acres of coast live oak woodland . 7 acres of sycamore alluvial woodland . 13 acres of southern willow scrub 4 acres of aquatic/freshwater marsh . 108 acres of alkali meadow . 479 acres of floodplain scrub Communi\)' Plannin& and Development Development Patterns Which Minimize the Adverse Impacts of Development on Air Quality and Congestion The Project area currently exceeds Federal and State air quality standards for a number of emissions factors, including ozone and carbon monoxide. A substantial majority of these emissions are attributable to motor vehicles. In order to comply with the Federal and California Clean Air Acts, the San Diego region must reduce these sources. The Project is designed to reduce the adverse impact to air quality and automobile congestion that would otherwise result if jobs and housing were provided for in a typical suburban development pattern. The Project accomplishes this goal through its location and design. The Otay Ranch parcel is located close to the urban core of the San Diego region, which will reduce the length of commuter trips. In addition, the Project's location adjacent to the Otay Mesa industrial area will provide housing proximate to this planned employment center. A mixed-use development, the Project will promote linkage of trips, reduced trip length and encourage use of alternative modes of transportation such as biking, walking and use of transit. The Project creates a multi-modal transportation Page 178 Fiscal Benefit The fiscal impact analysis conducted for the Otay Ranch has concluded that, at buildout, the Project will have a net positive impact on both the City of Chula Vista and the County of San Diego. Because it is anticipated that during buildout there will be short-term periods in which the costs to service the Project exceeds revenues, the Project includes a reserve fund program, which protects the City and County by correcting for any operating deficiencies incurred by the affected jurisdiction during years where there is a fiscal shortfall. Financing of the reserve program and the cost of annual fiscal reviews will be the responsibility of the applicant. (Otay Ranch Service/Revenue Plan, January 11, 1993.) For the foregoing reasons, the City finds that the Project's adverse, unavoidable environmental impacts are outweighed by these considerable benefits. GAF /96/FINDINGS.CTY RflOf5f93 Page 181 Consistency in the approach to resolving regional issues such as transportation, air quality, habitat preservation, infrastructure and public services planning. Long-range coordination of local and regional public facilities. The General Development Plan includes a provision for designating land for regional purpose facilities. The City's requirement for cOl._munity purpose facilities (for uses such as social and human services, senior care, day care, etc.) to include facilities to house regional services such as offices, courts, detention facilities, medical facilities and public common areas. These facilities are provided by the County and are currently housed in County-owned facilities, where available, but are more commonly located in leased or rented space. Designation of land for regional purposes will facilitate the provision of these services and provide better locational opportunities for users of these uses than is currently available with new development. [Source] Regional Housing Needs The Project will help meet a projected long-term regional need for housing by providing a wide variety of housing types and prices. Recent SANDAG housing capacity studies indicate a significant shortfall of housing will occur in the Project area within the next 20 years. For example, the SANDAG Series VII population growth forecast, published in January 1987, estimates that within the South Suburban MSA, in which the Project site lies, employment will grow more substantially than housing or population (South County Land Use Analysis, Alfred Gobar & Associates, 1990, Exhibit E.) In recent years, the cost of housing compared to other uses has risen disproportionate to the cost of other uses in the Project area (e.g., commercial, industrial), reflecting a shortfall in residentially zoned land. The Project will help reduce the cost of housing by designating an adequate supply of suitable land for residential development. The Project also provides a mixture of housing types in proximity to one another, responding to needs of singles, families, students and seniors. With 55.5 percent single-family designations and 44.5 multi-family designations, a broad range of housing types and costs are anticipated. The classification of a sizable portion of the Otay Ranch housing product type as attached will assist in providing more affordable housing, since it is recognized that the key contributing element of the cost of housing is the price of land. 4 This range of housing types and prices will promote socio-economic diversity, which the City finds both important and desirable. It is commonly recognized that increasing allowable densities allows more units on available land, effectively increasing the supply of land and decreasing the cost of housing. (OLand for Housing, 0 Urban Land Institute, p. 3-5, Exhibit OF' and 'The Next American Metropolis,' Princeton Architectural Press, Peter Calthorpe.) (Exhibit "G") 4 Page 180 Fiscal Benefit The fiscal impact analysis conducted for the Otay Ranch has concluded that, at buildout, the Project will have a net positive impact on both the City of Chula Vista and the County of San Diego. Because it is anticipated that during buildout there will be short-term periods in which the costs to service the Project exceeds revenues, the Project includes a reserve fund program, which protects the City and County by correcting for any operating deficiencies incurred by the affected jurisdiction during years where there is a fiscal shortfall. Financing of the reserve program and the cost of annual fiscal reviews will be the responsibility of the applicant. (Otay Ranch Service/Revenue Plan, January 11, 1993.) For the foregoing reasons, the City finds that the Project's adverse, unavoidable environmental impacts are outweighed by these considerable benefits. GAF /96/FINDINGS.CTY R/10/5/93 Page 181 EXHIIJIT A B C D E F G TABLE OF EXHIBITS DOCUMENT 1TI1..E .PRELIMINARY MARKEl' OVERVIEW" OF '!HE OTA Y RANCH PROJECT IN SAN DIEGO COUNfY, CALIFORNIA, JULY 12, 1989, KENNETII LEVENI1IAL AND COMPANY "LAND USE STRATEGIES FOR MORE UVABLE PlACES" LOCAL GOVERNMENT COMMISSION, JUNE 1, 1992 "SOUTII BAY RAIL EXTENSION SI1JDY., SANDAG FEBRUARY 5. 1991 "OTA Y RANCH GENERAL DEVELOPMENT PIAN/SUB-REGIONAL PIAN", OCTOBER 5, 1992, PAGE 51 "SOUTII COUNfY lAND USE ANALYSIS", ALFRED GOBAR & ASSOCIATES, 1990 "lAND FOR HOUSING; URBAN lAND INSITI1ITE. p. 3-5 'THE NEXT AMERICAN MErROPOLlS - ECOLOGY, COMMUNITY, AND '!HE AMERICAN DREAM; 1993 (ONLY INCLUDED IN COUNCIL AND BOARD PACKETS) Page 182 -----~- I! EXHll3i7 ~ Kenneth Leventhal & Company Preliminary Market Overview 01 the Otay Ranch Project in San Diego County, California July 21, 1989 Kenneth Leventhal & Company Certified Public Accountanu Certified Public Accountants -~ It \. - 'i'\'- ____--..::o..-~~.... .....-..'._~...-.-A'_~...~OC....;::O"_.' '~'..,,#,.....- Kenneth Leventhal & Company Certified PublIC Accountants 660 Newoon Center OrNe New-oort 8eacn. Call1ornla 92660 714640-5000 FAX 714644-7909 Ms. Elizabeth Long The Baldwin Company In accordance with our engagement letter dated May 31, 1989. we have prepared a preliminary market overview of the Otay Ranch project (the "ProJect'" in San Diego County, California. Our report 'ncludes an analysis of the residential, industrial and commercial components, Our preliminary market overview was based primarily on information provided by you and your outside consultants. While we believe the sources of information are reasonably reliable. we have not verified the accuracy of such information, and we do not express an opinion or any other form of assurance on the accuracy of such information. The market overview includes assumptions about future developments ,n the economy and the local real estate markets as well as assumptions about potential future actions and marketing efforts by the Project's management. Achievability of the assumptions depends on the timing and probability of a complex seri~ of future events. both internal and external to the PrOJect. Accordingly, we do not express an opinion as to either the achievability of the assumptions or the probability that the actual results of the Project will approximate the estimated performance. We did not ascertain the legal and regulatory requirements applicable to the Project including zoning, other state and local government regulations, or any other entitlement or title considerations. Furthermore, no effort was made to determine the possible effect of recent or future federal, state, and local legislation on the Project, including any environmental or e<:ological matters or interpretations thereof, or toxic waste or other significant physical site issues. The market analysis prepared for this engagement includes long-term annual growth estimates that represent averages over periodic future economic and real estate cycles similar to those that have occurred during the past twenty years. No attempt has been made to estimate the timing and severity of such cycles. The purpose of this report is to assist management in evaluating the Project and providing information to potential lenders. Neither the report nor any of its contents may be referred to. quoted or reproduced in any registration statement. prospectus. loan or other agreement or document without the prior written consent of Kenneth Leventhal & Company, The terms of our present engagement do not provide for reporting on events subsequent to the date of this report. Therefore. we accept no responsibility to either update or revise this report subsequent to the date of its issuance. ~~~ &";r-r July21,1989 - Table of ContenU Paae Exe<utive Summary Introduction 15 5an Diego County Growth Trends 16 5an Diego County Residential Market 21 Competitive Advantages of the Otay Ranch 25 South Bay Residential Submarket 27 Re<ommended Residential Product and Pricing and Estimated Absorption on the Otay Ranch 32 Industrial Market Analysis 36 Office Market Analysis 43 Retail MarketAnal~ls 48 Te<hnical Appendix 51 - .- EXECUTIVE SUMMARY The Otay Ranch (the "Ranch") is a 20,SOO-acre property located in unincorporated San Diego County (the "County") twelve miles south of downtown San Diego and immediately east of the city of Chula Vista. The Ranch is being planned and developed by the Baldwin Company ("Baldwin") as a master-planned community with a full spectrum of urban uses, ,ncluding residential, commercial, industrial, resort, public and open space uses. The large size of Otay Ranch indicates a long-term development period to reach full buildout, on the order of 30 years, Baldwin has retained Kenneth Leventhal & Company ("KL&Co") to prepare long-term projections of Otay Ranch absorption of malor residential, commerCial and industrial uses at an overv.ew level; and to provide recommendations for the residential product mix and prICing, and commercial and industrial land prICing. The results of our study are outlined in this Executive Summary. More details of our analyses, conclusions and recommendations are summarized in subsequent sections of this report. SAN DIEGO ECONOMIC GROWTH During the past few years, San Diego County has been one of the most rapidly growing major urban areas In the United States. San Diego has a diversified economIC base and a very attractive living and working environment, which are projected to maintain the County as one of the most rapidly growi"g urban areas over an extended period of future time. Regional growth in population and employment generates demand for real estate products and developed land, so future long-term demand for real estate development in San Diego is expected to remain strong. The San Diego County economy over the next 30 years shows an average growth rate for employment of 2.' % per year and 1.6% per year for population, SUBREGIONAL GROWTH PATTERNS San Diego County growth until the last 2-3 decades was mostly centered around and expanding slowly outward from the downtown San Diego area, With the advent of major freeway construction over the past 20 years, employment and especially population growth have occurred rapidly in several other areas of the County. The freeways that stimulated this dispersion of growth are Interstate 5 (north and south from downtown), 1-8 (east from downtown), 1-15 (northeast from downtown), and the I-S connection to Orange County to the north. The greatly improved region-wide accessibility provided by these freeways has stimulated the growth of several major employment centers in addition to downtown (see the map on the following page): · The South Bay area, south of downtown along 1-5 . Mission Valley, northeast of downtown along 1-8 · Kearny Mesa, northeast of downtown near 1-8 and 1-'5 · University Town Center/Sofrento Valley/Mira Mesa north of downtown along 1-5 · The north coastal area of Oceanside, Carlsbad and Vista/San Marcos along 1-5 · The Escondido/Rancho Bernardo area in the northeast county along 1-15 -1- ~ - SAN DIEGO RESIDENTIAL SUBMARKETS N OCEANSIDElCARLSBAj rSTA/ESCONDIDO I I I , E3condIdo ! poway LA JOLLA/LA COSTA MI<amar TIofTua.... SAN DIEGO C Source: Mar1<et Profiles -.--.-' -"-"- .-..-..-. Me>rico - In addition. several long-standing employment concentrations have been provided by large military installations at San Diego Harbor, Mira Mar Naval Air Station, and the Camp Pendleton Marine Base in the north county. The growth of these employment nodes. and the accessibility to them provided by the freeways. has stImulated the rapid development of housing and population growth in several of the following County areas overthe past 10-15 years: . The 1-8 corridor east through La Mesa and EI Cajon . The 1-5 corridor north from La Jolla to OceanSide . The 1-15 cOrridor north from Mira Mesa to Escondido This recent rapid growth has generated an anti-growth reaction in the city of San Diego and many North County cities during the last five years. The anti-growth sentiment is largely based on real. Imagined or anticipated traffic congestion. overloading of sewer and water systems. and deterooratlon in the existing "quality of life," Growth limIting movements In those areas have succeeded in passing growth limiting initiatives and ordinances in citIes such as Carlsbad, Encinitas. and Oceanside. Almost all of the growth limitations have been in the form of maximum numbers of housing units allowed per year, ranging from a temporary moratoroum on all housing units (Poway), to about 1.000 units per year (Escondido). to 10,000 - 15,000 units per year (City of San Diego). All of these housing unit limits are substantially less than the demonstrated demand for new housing units in the citIes, Nonresidential growth has been subject to few restrictIons throughout the County. The Otay Ranch is located in the South Suburban (South Bay) subregion of the County, The Cities and agencies that ultimately control growth in this subregion have not placed any fixed limitation on the number of housing units that can be built each year. Instead. they have tied residential growth to construction of infrastructure systems adequate to support the community needs, Their policy is to approve substantial levels of residential growth if the needed infrastructure systems are provided before or concurrent with the construction of houses. One result of such a pOlicy in the future will be to cause a significant amount of the strong County housing demand to shift to the South Suburban area if agencies and developers In that area construct, in a timely manner. the infrastructure systems needed to support elevated levels of housIng production that respond to the demand. COMPETITIVE ADVANTAGES OF THE OTA Y RANCH Strong future growth in San Diego County will produce high levels of aggregate demand for new housing and nonresidential building space. The Otay Ranch will be competing with other County subregions and developments to capture a significant portion of that demand. The Ranch will have a strong competitive position due to a number of significant competitive advantages. such as: · The large size of the Ranch allows Baldwin to develop a quality, well-planned. fully integrated community that provides jobs, housing, shoPPIng and most of the public and private urban facilities and services that create a desirable place to live. work and do business. Baldwin is planning to develop such a communrty. The previous experience of many other large, well-planned communities in Southern CalIfornia has demonstrated that people and businesses prefer to locate in such communities instead of smaller, uncoordinated, lower overall quality tracts and developments, -2- ,.- · The light industrial, business park and commercial centers planned for the Otay Ranch, and other employment-provIding developments in Otay Mesa, will provide thousands of jobs adjacent to residential areas of the Ranch. Many workers will be attracted to nearby housing in Otay Ranch. At the same time, the thousands of workers living in Otay Ranch will provide a nearby labor force that will help attract employers to the Otay Ranch employment centers, Otay Ranch housing is planned to provide a full spectrum of housing opportl'nities affordable to workers of most income levels. This mutually supporting relationship between labor force and jobs IS one of the major advantages of fully integrated master-planned communities like Otay Ranch. . The large scale of Otay Ranch will allow BaldwIn to spend substantial amounts every year to market and promote the Ranch. This marketing advantage will help substantially in attracting a higher market share and will help to create a stronger image. Smaller competing developments cannot afford to spend as much and consequently WIll have less marketing impact than Otay Ranch, · The Otay Ranch area presently has better access to major employment centers In the harbor. downtown, Mission Valley and Kearny Mesa areas than most other residential areas in the north and east County. Freeways and arterials from the other residential areas to the indicated employment centers are now highly congested during peak hours. while freeways and arterials from the South Bay area are much less congested, Several additional north-south and east-west freeways and arterials are planned for construction through and to Otay Ranch. When these are completed, access to jobs for Ranch residents should be even better while freeways to the north and east of the downtown area become even more congested. This situation will attract households to locate in Otay Ranch. · Until the last few years, the South Bay area had the image of an inferior place to live compared to areas in the central and north County. The recent success of the Eastlake development, which is a large, good quality, well-planned residential community, has changed that image. The strong acceptance of the high quality, higher priced housing in Eastlake has demonstrated that South Bay has become an attractive place to live. Otay Ranch is adjacent to Eastlake. so the Ranch can bulla on this favorable image without having to go through the often lengthy and difficult process of initially creating the image. · As indicated above. the limitations on housing unit development in much of the rest of the County will shift residential demand to the South Bay area and to Otay Ranch. which will be the largest and highest quality, fully integrated master-planned community in South Bay, Since Baldwin is planning to ensure that infrastructure systems keep pace with Otay Ranch growth. the Ranch should be able to produce enough housing units to maintain this substantial competitive advantage and absorb the residential demand. · Developed land and housing prices in most north and central County areas have increased rapidly in the past few years, and have reached fairly high levels. This run- up in prices has been caused. in part. by residential growth restrictions that have limited supply relative to demand, and by high land development COSts in some areas due to difficult topography. Baldwin's relatively low land cost base. and the easily developable topography of much of the Ranch, should allow Baldwin to price its residential land and housing, and nonresidential land and buildings, very competitively with respect to developments in other areas of the County, -3- ~ SAN DIEGO COUNTY AND SOUTH SUBURBAN HOUSING DEMAND The strong future population growth in San Diego County, indicated in the population projections presented above, will generate a strong future demand for housing unItS In the County. The historICal growth in County occupied housing units, and the projected future demand. is summarized in the following table: Peri od 1980-1984 1985-1988 19B9-1995 1996-2000 2001-2020 Average Annual Increase in Occuoied HU 11,900 31,800 25,900 23.400 1B,800 As indicated previously, most housing growth over the last 10-15 years has occurred in the central and northern parts of the County, During the 1980-1984 period, the South Bay Submarket area where Otay Ranch is located captured only 7.6% of total County housing growth. One Significant reason for the low capture rate was that there were no sizable housi ng developments in the South Suburban area, so total housing production levels were low. During the 1984-1988 period, however, the South Bay Submarket capture of County hOUSing growth increased to 9.3%, This increase largely resulted from two factors: . The Eastlake project east of Chula Vista was developed and started producing and selling houses at a rate of 400-600 units per year. The Bonita Long Canyon project was also developed and produced and sold 200-300 houses per year. These two larger projects, combined with a number of smaller tracts, helped increase housing unit absorption in the area from 700 units in 1983 to 3,500 units per year dUring the 1986-1988 period, . 1984-1988 was the period during which many of the growth limiting ordinances were passed elsewhere in the County, as outlined previously. This constraint on supply tended to force some demand to other areas of the County, and the South Suburban area was one of the beneficiaries. The scenario, thus, was one of rapidly increasing South Suburban housing production at the same time that the shift in demand absorbed the houses. In the future this scenario is projected to continue and accelerate. with the South Suburban area increasing its capture of San Diego County housing absorption from the present 9% to 15% by 1995 and 20% by the year 2000. In addition to the continuing shift in demand. development of Otay Ranch, with its size and competitive advantages, will attract increasing numbers of households to locate in the South Suburban area. In terms of housing unit absorption, the South Suburban market is projected to absorb an average of 2,300 housing units per year through 1994, then 3,500 units per year through 1999, and 3.800 housing units per year in 2000 and after. -4- - In order to provide an additional indication as to whether or not the South Suburban market can absorb 3,SOO-3,800 housing units per year, the actual experience of three other comparable rapidly growing areas in Southern California was analyzed. These areas are Mission VielO, the Irvine Ranch, and the Ontario/Rancho Cucamonga area. These three areas have the following major characteristics in common with the South Suburban area: · Adjacent to a large, rapidly growing urban area. · Good freeway access to jobs in the adjacent urban area. · Approximately the same large amount of developable land. In addition, Mission Viejo and the Irvine Ranch were developed by a single owner/developer (Ontario/Rancho Cucamonga had a few large developers); Otay Ranch is by far the largest prOlect in the South Suburban area. The Irvine Ranch and Ontario/Rancho Cucamonga also included large nonresidential. job-<reating developments similar to the planned large business park and light Industrial areas in and adjacent to Otay Ranch in the Otay Mesa (Mission Viejo was almon exclusively residential). Mission Viejo and the Irvine Ranch started large-scale development about 1970 and experienced their rapid growth phase in the late 1970s, The Ontario/Rancho Cucamonga area started development In the late 1970s and is still in ItS rapid growth phase. These three areas thus have already gone through much of the typical growth pattern that Otay Ranch and the South Suburban area will experience: A steady buildup of growth in the early development phase: a period of rapid growth: and then a phase of somewhat slower growth as the area matures and becomes urbanized. During their early development phases, these three comparable areas absorbed 2.400-2.900 housing units per year; and during their rapid growth period, the areas absorbed 3.000-4,500 units per year. The experience of these comparable rapid growth areas indicates strongly that the South Suburban area can achieve housing unit absorption of the projected 3,500-3,800 units per year, OTA Y RANCH HOUSING UNIT ABSORPTION Within the South Suburban area, Otay Ranch will be competing with SIX sizable planned residential developments. as follows: Development Eastlake Salt Creek Bonita Meadows Bonita Miquel Rancho Del Rey Sunbow Total Housing Units Start of HU Sales now selling 1990 1991 1994 1990 now selling Remaining Units 6,993 4,231 275 1,550 4,028 2.161 19,238 .5- - Otay Ranch is planned to have 43,000 housing units, with home sales starting in 1994. In addition to these larger developments, a significant number of small tracts now are producing and will continue to produce housing units in the South Suburban area. When Otay Ranch starts selling units in 1994, it will be competing with the other large planned residential developments as well as the smaller scattered tracts, Since the Ranch will be a new develop, "ent, it will take a few years to establish itself in the South Suburban competitIve market, It is expected that sales of homes in Otay Ranch will increase steadily during this period, starting at 800 homes per year in 1994 and increasing to 1,400 homes per year by 1996. Sales at the Ranch will start at the fairly high level of 800 homes in 1994 because the Ranch will have a superior marketing Impact (as discussed previously). and because Otay Ranch is planned to offer homes over the full spectrum of home types and price ranges In 8-10 tracts initially. Otay Ranch home sales are projected to remain at the 1,400 unit per year level until after the year 2003, when the other large residential developments will have achieved sellout. At that POint. home sales on the Ranch are projected to increase to 1,800 units per year and remain at that level until all Otay Ranch homes are sold out in about 2020, Year-by-year projections of Otay Ranch housIng unit absorption are presented in a subsequent section of the report. 8aldwln plans to sell lots to home builders, who typically buy lots aoout one year before homes are completed and sold. An annual projection of lot sales was also prepared, In which lots are shown as sold by 8aldwin one year before the resulting homes are sold. Our analyses covered only the for-sale housing market for Otay Ranch; the apartment market was not analyzed. However, the experience of other large master-planned communities Indicates that apartment units can be absorbed in significant numbers (200-400 units per year) after a project has been under development for a number of years and has established itself, RECOMMENDED OTA Y RANCH RESIDENTIAL PRODUCT CHARACTERISTICS KL&Co performed a detailed analysis of the characteristics of housing units sold in San Diego County and the South Bay area during the past year. Following is the prICe distribution of the homes sold: San Diego South Bay Price Ranoe Countv % Share % Share Detached $400,000 .. 4% 3% S350,OOO-S400,OOO 5% 11% 5300,000- mo, 000 5% 9% $250,OOo-S300,OOO 12% 8% $200.000-$250,000 20% 0% S 150,OOo-S200,OOO 19% 16% $ 1 OO,OOO-S 1 50,000 .-2oA, ---1% Total 71% 56% Attached - - $200,000 + 5% 0% $ 1 50,000-$200,000 5% 4% S 1 00,000-$ 1 50,000 10% 34% Under S 1 00,000 -!% -1% Total 29% 44% - - Note: DiscrepancIes In totals are due to rounding. . San Diego County tracts in the aggregate produce units across the full price spectrum. Absorption was strongest in the middle price ranges, S150,OOo-S250,OOO for detached homes and under S 150.000 for attached homes. Absorption was low in the S 1 OO,OOO-S 150,000 detached price range because not many homes were produced: high land and development costs make it difficult to develop homes profitably for these prices, The South Bay price distribution is erratic since it reflects only what was produced by the much smaller number of tracts in 50uth Bay. No or few units were produced in certain of the price ranges, and the attached home distribution was distorted by one highly successful condominium project In Eastlake, Otay Ranch can maximize housing Unit absorption by producing homes over the full spectrum of types and prices. Accordingly, the San Diego County home price distribution is a much better indicator of demand than the South Bay distribution. Based on our analysis of the County and South Bay housing markets, we recommended that Baldwin produce the following mIX 01 housing units and prices in Otay Ranch: Lot Size/ Home Size Home Price Percent Home Tvoe Densltv (SF) (1989 Ss) Distribution Detached Estatei 1/2-1 acre 3,000-4,000 S400,OOO-5500,000 2% Semi-Custom 10,000 SF 2,500-3,500 5325,000-5450,000 8% Detached High-End 6,000-7,500 SF 1,800-2,600 5250,000-5325,000 12% Detached Medium 5,000 SF 1,500-2,000 S200,OOO-5250,000 23% Detached Patio 4,000 SF 1,300-1,600 S 160,000-5200,000 28% Total 73% - Attached Attached Patio 3,500-4,000 SF 1,300-1,500 S 130,OOO-S 165,000 12% Townhomes 7-10/acre 1 ,000-1.300 S 11 O,OOO-S 135,000 10% Flats 18-221acre 850-1,000 S8O,OOO-S 11 0,000 -2% Total 27% - This mix provides a complete range of home priCei and types that can be sold to a large spectrum of different households. A preponderance of the units are concentrated in the middle price ranges where absorption has been strongest in San Diego County. This is the kind of mix that can maximize home absorption in Otay Ranch, Baldwin is planning to sell fully serviced, rough-graded parcels to home builders, who will then construct the subdivision streets and utilitiei. finish grade the lots, and build homes. We performed a residual lot value analysis to estimate the price per lot a home builder would pay for a parcel delivered at that level of development. The estimated prices per lot that Baldwin can obtain are the following: -7- - Average Price Home Tvpe Per Lot (1989 5s) Detached Estate S 114.900 Semi-Custom 119,500 Detached High.End 83.800 Detached Medium 69.000 Detached Patio 53,900 Attached Attached Patio 5 42.200 Townhomes 24,500 Flats 16,400 Detached home pnces in 5an Diego County have increased at a compounded rate of 9% per year since 1979. at a 15% annual rate since 1984, and 26% per year since 1986. Attached home prICe increases have been more modest; 5% per year Since 1979 and 7% per year since 1984. Clearly, neither the County nor Otay Ranch can sustain annual home pnce increases of 15%-26% over the long-term future. However, in view of the Ranch's many competitive advantages and the strong future demand for housing in the County and 50uth 8ay, we estimate that Otay Ranch can achieve home price Increases on the order of 10% per year over future years. INDUSTRIAL MARKET ANALYSIS The light industrial area of Otay Ranch is located in the Otay Mesa. which lies between the main part of the Ranch and Mexico. The Otay Mesa is largely flat and contains the largest undeveioped industrial area in San Diego County, some 6.500 acres. Industnal development activity has accelerated In Otay Mesa over the last few years, with some 1,600 acres now In some stage of planning or development. This high level of activity IS due to several Important advantages of the Otay Mesa location, including the following: . Close proximity and good access to intenor San Diego with its urban servICes, businesses and labor force. . Excellenttransportation access via freeways, the Port of San Diego, and airports, . Low land development cPSts due to the flat terrain, resulting in land and lot prICes significantly lower than Industrial land elsewhere in San Diego County, ~ . Adjacent to the Mexican border, which makes it efficient for companies to operate twin plants on both sides of the border to take advantage of lower labor costs In Mexico. Many U, S. and international firms are establishing these plants in Otay Mesa. . The largest amount of industrial land available in the County, including large Industrial sites that would be scarce and expensive in other partS of the County. All of these advantages point to the future continuing rapid development of Otay Mesa with industrial uses. In addition, development of a full range of houSing opportunities In the adjacent - Otay Ranch will provide large amounts of nearby housing for employees, which will make Otay Mesa even more attractive as a location for businesses, Planned additional north-south and east- west freeways into Otay Mesa will also provide even better regional transportation access, In our analysis of long-term industrial land absorption in Otay Mesa, we first projected future San Diego County demand for industrial building space based on the strong future growth in County employment. We next estimated how much of this demand Otay Mesa can capture, and then converted building space absorption to finished lot absorption using a floor area ratio (FAR) of .35 (building space divided by lot area). The results of this analysis are summarized in the following table (industrial building space in millions of square feet): Year 1986 1990 2000 2010 2020 San Diego County 64.6 93,8 153,1 216,3 263.0 South Bav Area Sa. Ft. % of Countv 10.2 15.8% 15.9 17.0% 33,7 22.0% 64.9 30.0% 92,1 35.0% Otay Mesa Sa, Ft, % of So. Bay 0.1 1% 3.2 20% 13.5 40% 37.6 58% 61.7 67% The South Bay area's share of County industrial space is projected to grow steadily, primarily due to rapid development of Otay Mesa, which has most of the remaining available industrial land In South Bay. The very rapid growth of Otay Mesa is indicated by the addition of industrial space during the last few years. In 1986 there were 100,000 sq. ft. of industrial buildings In Otay Mesa; by the end of 1988 this had increased to 1.3 million sq. ft. Another 900.000 sq. ft, is projected to be developed dUring 1989. This accelerated rate of development is due to the strong advantages outlined above that Otay Mesa offers as an industrial location. and this high rate of development is projected to continue oyer the long-term future. This rapid growth in Otay Mesa building space translates Into the following annual absorption of space and finished lots: Peri ad 1990-1994 1995-1999 2000-2004 2005-2009 2010-2020 *Uslng an FAR ot .35 Annual Averaae Absorotion Sq. Ft, of Acres of Industrial Soace Finished Lots" 876,200 57 1,188,000 78 2,072,400 136 2,759,600 181 2.404,400 158 .Cl.. - The Otay Ranch portion of the Otay Mesa industrial area will be competing with several other major industroal developments and a number of smaller projects in Otay Mesa. It is recommended that the Otay Ranch industrial land be developed with the following characteristics to give it a competitive advantage over other projects in Otay Mesa: . Developed as a master-planned industrial park with landscaped streets and architectural and design controls to produce a high quality envlf nment. . Provide a mix of IoU from small (1/2 - 5 acres) to large (30 - 50 acres) to encourage a mix of small tenants, light manufacturing, distrobution/warehouse, R&D, and low- rise office space users. . Market the Otay Ranch industrial park as an integral part of the wnole Otay Ranch to take advantage of the Ranch's marketing power and impact. . Take advantage of Baldwin's relatively low land cost base to prICe finished lots below competing Otay Mesa proJects. ThIs price advantage is important to achieving significant absorption rates, partICularly In the early years of industroal park development. In view of the foregoing competitive factors, we estimate that the Otay Ranch industrial park can initially capture 20% of Otay Mesa absorption, with this capture ,ncreasing to 25% once the industrial park is established. The projected absorption of finoshed Iou In Otay Ranch Industroal park is thus the following, ,n acres: Peri od 1990- 1994 1995-1999 2000-2004 2005-2009 2010-2020 Total Annual Average Absorption 11 20 34 45 40 Period Total Absorption 55 100 170 225 400 950 - ORIP% of Otav Mesa 20% 25% 25% 25% 25% Current finished lot prices in Otay Mesa are approximately 55.50 - 57.75 per sq. ft. plus S 1.25 - 51.40 per sq. ft. in assessments, for 1/2- to 5-acre lots. Larger Iou of 5 to 30 acres generally sell in the S5.00 to S5.50 per square foot range. These prices are sIgnificantly below finished industrial lot prices in most other areas of 5an Diego County, which generally range from about 59.00 - $15.00 per sq. ft. As indicated previously, we recommend that Otay Ranch industrial park lots generally be priced at about 55.00 - 56.50 per sq. ft. (exclusive of assessments). which is below current Otay Mesa prices. The few large lots would be priced somewhat lower. OFFICE MARKET ANAL Y51S Office space demand for Otay Ranch will consist of two components: · Population-serving office tenants, which are primarily firms that serve the local area population such as real estate agents, escrow companies, insurance agents, dentIsts, doctors, attorneys, etc. -10- - · Business-serving office tenants, which are generally larger space-usin;} firms that serve regional or natIonal markets largely comprised of other businesses. The Otay Ranch population will generate demand for a certain amount of population-serving office space. Development of a significant amount of demand for busIness-servIng office space on the Ranch will, on the other hand, be a difficult and lengthy process. Otay Ranch and the South Bay area will have to compete for tenants with the well-established office nodes in downtown San Diego, MissIon Valley, Kearny Mesa, and University Town CenterlSorrento Valley. These nodes, in addition to being well established, are centrally located with good access to busInesses throughout the county. Otay Ranch has a competitive locational disadvantage because It'S at the very southern edge of San Diego County. These established nodes, other than downtown, took many years to establish themselves as business-serving office locations, and space absorption In the initial years was very slow. The experoence of many present office nodes in Southern California is almost uniformly one of difficult, slow Initial growth because it is hard to attract major tenants to locate In new projects away from more centrally located, large, established concentrations of office space. The outlook for business-serving office space absorption for Otay Ranch is thus one of slow, steady absorption over an extended perood of time. We estimated this space absorption by projecting total business-serving office space absorption for the County, based on County employment proJections. We then estimated the share of this space that the South Bay area and Otay Ranch could capture. Finally, we converted office space to land absorption uSing an FAR of .35, which is typical of low-rise office proJects. The projections for the South Bay area are summarized in the following table: South Bav Area County Annual Office Space Space Average ~ (million SF) (million SF) % of Countv Increase (SF) 1986 26.7 1.4 5.3% 1988 31.0 1.6 5.0% 70,100 1990 34.5 1.7 5.0% 82,800 1995 47.0 2.6 5.5% 172,100 2000 58.5 3.5 6.0% 185,500 2005 70.5 4.6 6.5% 214,300 2010 85.0 5.9 7.0% 272,800 2020 108.8 8.7 8.0% 275,900 A substantial portion of South Bay annual absorption is expected to go into low-rise and mid-rise office buildings located in business parks in Otay Mesa. We estimate that Otay Ranch can capture 15% of the South Bay absorption during the Initial years of its office space development. and 20% after some office space has been developed and the rest of the Ranch,s well under development. The Otay Ranch business-serving office absorption projections are summarized below: -11- -.... Capture of Annual Average Otav Ranch Absorption South Bay Cumulative Period Space Absorption Space (SF) ~. Acres Absorbed 1991-1995 15% 25,800 2 8 1996-2000 20% 37,100 2 18 2001-2005 20% 42,900 3 33 2006-2010 20% 54,600 4 53 2011-2020 20% 55,200 4 93 . USing an FAR of .35 Demand for local populatIon-serving office space was estimated using a demand factor of four square feet per person, which represents a typIcal demand in urban areas. Applying this factor to the growth in Otay Ranch population resulting from the projected housing unit absorptIon produces demand estimates of about 14,800 SF per year initially, increasing to 18.500 SF per year in the year 2000. Using a low-rise office FAR of .35 results in land absorption for local population- serving office space of 1.0 - 1.2 acres per year. Estimated total office land absorption in acres for Otay Ranch is summarized in the following table: Annual Averaae AbsorPtIon Business Population Cumulat,ve Period Servi no Servino Total Absorption 1991-1995 2 3 12 1996-2000 2 3 27 2001-2005 3 4 47 2006-2010 4 5 72 2011-2020 4 5 122 The acres indicated above are in the form of fully serviced, graded Iou or parcels. The local population-serving office buiJdings and parcels should primarily be located as an integrated part of Otay Ranch shopping centers to make the bUildings most accessible and convenient to the surrounding population. These office building parcels should be priced at the same prices set for shopping center sites, or 58.00 to 510.00 per SF. Business-serving office buildings and parcels should be located in specific office park developmenu that have a minimum of several office bUIldings. These parks can be located eIther adjacent to major shopping centers in the center of Otay Ranch, along or near the freeway, or in the Otay Ranch industrial park. The parks should be located with good frontage on and vISibility from major arterials, preferably at an intersection of two major streetS. Since such corner . ~,- ........ locations will be the best locations in Otay Ranch industrial park, office parcels should be priced somewhat higher than generaJ industrial lots, or $6.50 - 57.50 per SF (exclusive of assessments). Office parcels located in office parks in central Otay Ranch can be priced at the retail site price range, or about $8.00-$ 1 0.00 per SF. Office parcels located in an office park near the freeway can be prICed in the 59.00 - S 11.00 per SF range. RETAIL MARKET ANAL YSI$ Demand for retail space in Otay Ranch will be generated primarily from the retail spending of Ranch households, with some additional demand coming from areas around the Ranch. A fairly complex series of calculations was used to estimate demand for retail building space. Following's a brief outline of the calculation process: . Future increases in total retail spending were calculated for Otay Ranch households (primary market area) and the rest of South Bay (secondary market area). The spending estimates were based on average household Income and the future growth ,n households. . The capture of total retail spending by Otay Ranch retaIl faCilities was estimated in variOus categories of retail expenditures. . Typical average annual sales per square foot for these categories were applied to the category expenditures to estimate the number of square feet of retail building space that will be absorbed in Otay Ranch. Building space absorption was converted to Otay Ranch shopping center site absorption by using an FAR of .25, which,s tYPICal for suburban shopping centers. The results of the absorption analysis are summarized in the following table: Retail Sales Expenditures Retai I Space Acres Cumulative Peri ad ($ millions)" Absorbed (SF) Absorbed Acres Absorbed 1 994- 1999 $ 202.9 682,000 63 63 2000- 2009 S 412.6 1,388.000 127 190 2010-2020 $ 443.9 1.493,000 137 327 . tncreas. In expenditures dUring the period In order to best serve the Otay Ranch community, this space should be distributed among the following three general types of shopping centers: · Neiqhborhood center: Typically anchored by a supermarket and drug store, usually WIth BO,OOO to 145,000 SF of building space on 8 to 14 acres. They are located centrally in neighborhoods of 2,000 to 3,000 households. · Communltv center: Generally anchored by two or more large discount-type or home improvement stores, and rangIng In size from 120.000 to 250,000 SF on 12 to 24 acres. Each center WIll serve a substantial portion of Otay Ranch households, and should be in a central location on a major arterial. .1 ~_ ~ . Recllonal center: There probably will be only enough demand for one moderate- sized regional center serving Otay Ranch and the surrounding area. Such a center is typically anchored by three or more department stores, and ranges in size from 600,000 to 800,000 SF on 50 to 70 acres. This center should be located centrally in Otay Ranch at the intersection of two arterials or at a freeway offramp. Neighborhood centers will be the first retail facilities needed on the Ranch as residential neighborhoods are built. When 8,000 to 12,000 homes are built they will support a community center. Adequate support for a regional center probably will not develop until Otay Rancn approaches buildout. Our retail expenditure calculations did not Include expenditures for autos and auto-related servICes. Toward the end of Otay Ranch buildout, the Ranch will probably support an auto mall of about 50 acres, which would include auto dealerships and other auto-related establishments such as repair shops. body shops and tire stores. This mall should be located centrally ,n the Ranch on a major arterial orfreeway offramp. A retail space distribution and phasing scenario for Otay Ranch might look like the following: 1994-1999 2000-2009 2010-2019 Total Center Tvoe Number. ~ Number. ~ Number * Acres Number * ~ Neighborhood 3 38 6 75 5 67 14 180 Community 25 26 26 3 77 RegionaJ - - - ..l .2Q ..l ...2Q - - - Subtotal 4 63 7 101 7 163 1B 327 Auto Mall . - ..l .2.Q 1 ..2.Q - - Totals 4 63 7 101 .l 213 19 377 - - - - - - - . Number 01 centers Sites for the retail centers should be sold as fully serviced, graded parcels. Neighborhood and community center sites in the area generally are selling for 58.00 to 510.00 per square foot, and Otay Ranch sites should be priced in this range, ~egional center and auto mall sites in Southern California are generally prICed at 52.50 to S4.50 per square foot, which is appropriate pricing for the Ranch sites. . OTHER COMMERCJAL USES Our analyses did not cover the demand for specialized commercial uses such as a destination resort, tourist-oriented specialty retail, hotels, bowling alleys, skating finks, etc. There may be demand for such uses, and their sites, as the Otay Ranch develops. r LAND USE ~-. '.;;ryr-r '~s: STRATEGIES FOR MORE LNABLE PLACES .. .- ~. .2..7. ~-: ~,:... ~ ~.. --" .' ..;. - ~~,~:....~.;.::;-~;-~ , ~ ~ ,. .~ .'-'" .... - .". 4::.-f t!--oc:o.".A-, ~_~.~5~~-:.. 'ir'-~~":" .'.- j,;:~' >t-.~'-~',_. - - . ~ ~_.... , . > ~~ :-;1~~ :?~ ~~1.~~' ,~..c:_ ~~::~::; ~ ~~~~:~~t . .~~. -.> ~. --.' -~~~.~~:iL~ ,"",~_." .~':7~.~__ " ". . ..~ -~...~,.:_. .-~ .;-~.~ ...... ~ LAND USE STRATEGIES FOR MORE LIVABLE PLACES ."r./W.... /,y: The Local Government Commission 909 12th Street, Suite 205 Sacramento, CA. 95814 w.... ~ S[cve Weissman Judy Corbett h J -rl~ Tom Sa:gcn[ Jcs Slavik Robin Weiss F-'--' /,y: Sam of California Air Resources Board Bay AniaAir Quality Management Dimia Non:bcm Sierra Air Quality Management Disaia San Bcnwr:i.ino County Air Pollurion Conuol Disaia San Diego County Air Pollution Control Disaia South Coast Air Quality M2mgemCl1[ Disaia June 1. 1992 Contents E:cecurive Sum7Nlry 1 1 The Transponation Challenge 7 2 How Land Use Decisions Affect 15 Automobile Dependance 3 A Strategy For BUildin;t. Uvable 19 Communities: The A wahnee Principles 4 Toward Better Community Planning 23 5 Regional Principles 43 6 Makinq It Happen: Implementation 49 Principles 7 Getting Staned: Some First Staps e1 8 Some Communities That Are Leading The 63 Way Appnuiiz A BOOQ and Periodical. 77 B Draft Resolution 8& C Model RFP 89 ~~ . ~;;- \ ~ . .~- . , ~ ~ i~'~ ..... - ......, HouIlll1!l for on _tHle_IV ..... \. ~.;~~, ..~~ I~"" ... -- .;' III /' --+ "OUStn9 for _ pedeStrI.n SOCJety Executive Summary Forty y=s ~o, Califom~ w;as a SUte dominated by compact communi- cic:s. !Tom rura.! places like Fort Bragg, to towns like Pasadena, to cities made up of disrinct neighborhoods. Communiries were distinct from one another. separared bv open space. T odov. in response to demands for more rurallifc:sryies. gn:uer mobility, and .notdoble howing. we have filled our agriculrural vaileys widl howes. spread communiries across the desertS and hiBs. and choked our frerwo.ys with can. The side effeczs have been severe: polluted air. neighbor- hoods with no sense or community. homes ~t separate children from parents with endless commutes. and vanishing fannJand. wildlife habitat and open Sp3Ce_ Beca= or the ~y we are growing, the social and the physical strUCture nazssary to suPPOrt a thriving economy in the State h;as begun to fail apart. California is expected to absorb millions of new residents in the n= deade. We urgenrlyneed to idenrifya different sm.tegyforaccommodatingthis growth. There is a growing consensw among groups;as disparate;as environmen- raiists and the building industry. the manuhaurer's association and minority groups ~t new devdopmc:nc must become more' compact", be of mixed wes and pedesuian-oriented. B}' drawing on the best featUres or our older neighborl100ds and the best ideas or innoV1l.tive ardUteets and plann=. we can improve built-out commu- nities and design new ones in ways that will empower and encourage people to m...., about without wing their calS- by ailowing a greatervariery orland uses clooer to work and home, by providing more successful W21kw:ays and bic:yc!e pahways. by bringing people and transit closer together and by stOpping the pralifcmon of spnwl development =ss rural land. Howdowua:omplish this? We mustmovebeyond 'piecemeal planning" where loaJ offic:ials = to new development on a pmject by pmject basis. Insaad, cities and counties will need ro initiaze the plonn;ng of new and d.onsing neighborl100ds. General plans and zoning ordinanccswill have to be revised and inril be neccssuyto make more use of specific plan.. and other creative planning tools. Wewill need ro involve each aunmuniry'scitizc:nsin thepbnn;ngpma:ss. Wemust coordinate these plans with neighboring jurisdictions ro make regional rrmsit systems become viable. Locallc:aders must begin to take charge. , The Problem The Solution Implementing the Solution: The Ahwahnee Principles ;\group of noredarchireas and d~ign~rs ot peaesrn2l1-onem:ed me transIt: oriented communities. working Wlth me Local Government Commission. has developed a set or plannmg pnnciples and implement:mon m=ures which. we believe, provide a blueprint ror planning more livable places. First presented [Q a gathering or elected officials at Yosemite's Ahw..nnee nOtel. rilev h.ave "een ucied the Ahwa.hnee PrinCIples. The prinCiples apply equallv to iniill development. redevelopment and new development. Taken individuallv. rhev arc hard nor to like_ nowC\'er. rhe principles do not stand alone. Like pieces or a puzzle. each is critical [Q our success. They are as iollows: Community Principles: . All pl::onning should be in the form of complete and integrated communities con~::oining howing, shops, work places, schools, parks and civic facilities essential to the daily life of the residents. . Community size should be designed so that howing, jobs, daily needs and other aaivities are within easy w:01lnng distance of each other. · As many aaivities as possible should be located within easy w:01lnng distance of transit stops. . A community should contain a diYusity of housing types to enable citizens from a wide range of economic levds and . groups to ~ within its boundaries. · Businesses within the community should provide a range of job types for the community's residents. · The locuion and charaacr of the community should be coasisteDt with a larger transit netWOrk. . The commanity should l1Pe acenurfoeus that combines commercial, civic, cultural and .-:.e..aonal uses. . The community should cont:Un an ample supply of r"I;..M open space in the form of squares, greens and parks whose frequent use is encouraged through place- ment and d....W'- 2 . Public spaces should be designed to encourage the atten- tion and presence of people at all hours of the day and nighL . Each communitY or cluster of communities should haw a wdl defined ~dge, such as agricultural greenbdts or wildlife corridors, pennanendy protected from devdop- menL . Streets, pedestrian paths and bike paths should conttib- ute to a system of fully-conneaed and interesting routes to all destinations. Their design should encourage pedes- trian and bicycle use by b~ small and spatially defined by buildin~ trees and lighting; and by discouraging high speed traffic. . Wherever possible, the namral ternin, drainage, and vegetation of the community should be. preserved with superior aamples contained within parks or greenbelts. . The ~~~ty <i~igra should hdp COo.serft resources and Iftln'ft'l17~ W'aSte. · Communities should provide for the efficient use of water through the use of namral drainage, dmught tolerant landscaping and recydiug. . The street oriencu:ion, thel'"r-..mt of buildings and the use of sh"ding shoul conttibute to the energy efficiency of the community. RegitnwJ Prindpln: · The regioaal land use pl..nning structure should be integr:tted with.in a ~ traDSportation netWOrk built around traDSit rather tfwt fre..".,~ . RegiODS should be bounded. by and provide a continuoDS system of greenbelt/wildlife corridors to be determined by namral conditions. · Regional iJbc:iwbons and services (gu...mment,stadi- ums, mu.-.....~, etc.) should be loc:aredin the urban COli:. 3 Communities When: They AzeLeading The Way . Materials and methods of construction should be spe- cific to the region, exhibiting continuity of history and culture and compatibility with the climate to encourage the development ofIoc:aJ character and community iden- tity_ Implemmration Principles: . The general plan should be updated to incorporate the above principles. . Rather than allowing developer-initiated, piecemeal de- velopment, loc:aJ governments should take charge of the pl"nning process. General plans should designate where new gxowth, infill or redevelopment will be allowed to oa:ur.. . Prior to any development, a specific plan should be prepared based on the pl"nning principles. With the adoption of specific r.lans, complying projects could proceed. with minim" delay. · Plans should be developed through an open process and participants in the process should be provided visual models of all pl"nning proposals. A number of communities throughour the nation have begun to imple. ment the principles stated above. Sacramento Counry has draited a ground- breaking gmc:ra.l plan which could well serve 2S a model for the implementation of the AhW2hnee Principles. It establishes areas for perm:rnent open space. identifies are:u for infiJl and new growth and czeateS a grid of tranSit OprioIU so char everyone in the counry can get where they are going by rail or bus. Design guidelines specify char both infill and new growth will be compact and pedestrian oriented. Similar. more 1~1;7"'; effortS abound. The Town of Loomis has adopted a specific plan for their downtown to =e a almpaa. mixed-use, pedestrian oriented. communiry core. The Cities of San Jose and San Diego are working to concentrate development around light rail stOps. Pedestrian-oriented. mDced- use neighborhoods which look liIa: those built in the U .S_ before W odd War II are making a reappearance on both C02S"i. These effortS provide important working modds from which we can 1= a great deal in our crucial mission to plan more livable places. 4 , '. ------- .~ --- .. -- -- - --- --- --- --- --- --- --- -- - - -... -- - --- --- --- .:: -- - , - , j ..... rr ~ ~ .~,..; ~.,-!,".~~~~.....-,.. . The Transportation Challenge Ware continually remind~ of the economic. politica.l and environ- mental r=ons that we must reduce our reliance on fossil fuel. Yet our dependence on private automobiles. which bum most of that fossil fuel. continues to grow. For =mple. unless we change our ways. there will be 40% more vehicles fighting for space on the roads of Southern cmfornia (Wenty years from now than there are today (cited by the South Coast Air Quality Management Disuia in Ma1ring Clean Air a PriDrity. credited to the Southern cmfornia Association of GovernmentS' Regional Mobility Plan. February 1989, p.l-2'. The number of passenger miles a:avclled in private an in this country has climbed from 1.2 trillion in 1960 to 1.65 trillion in 1970. to well over 2_5 trillion today. More people are driving alone than ever' before. V chicle occupancy measured in people per vehicle mile has gone down almOst 20% since 1977. On aVC1'2ge. each car on the road contains 1.55 people. The aVC1'2ge occupancy for commute trips is 1.1. Over 100 million an and pick-up trUcks are driven to work each day. Suburban residential sprawl and decen=lized indus- trial devdopment stand as both cause and dfea: of these trends in the use of private vehicles. Automobiles are versatile and convey people at relarively high speeds.. Drivers face low fuel prices and aaveI on heavily subsidized roadways. As a result, a large percent- age of the population can afford to aavellong distances between home and work. In response. developers can sell housing that is increasingly clistmt DOt only from historial populatiOD cen- tCIS but also from the goods and services nc:c:cicd to suppon a community. People have become in- creasingiy dependent on an not only to getro and from the workplace, but = - CO> - = ..... CO> - ~ CO> - = .... CO> - = "" CO> - = ~ - = ..... CO> - = "" CO> 1 How We Use Our Cars 3000 Domestic Ai, 2750 2500 2250 2000 1750 1500 Automobile 1250 1000 750 500 250 T,an.it o = CO> co - Annual Psaengerwmiles. in SilJions &tJmat.d ,.. r rill".,. NlII_ of T,....,., in the United S,.... 7 Cars, Culture and the Quality of Life "COUgMIk..1 in mlltor urDan _.. gr-.g -'15% --:. C.II1tomia ~,,"'fJm.,.~I' of T,.,..~.r --uon to visit their neIghbors or buy a c:.uton of milk. A quick look at the wav we have been desIgning our communicies in the last 40 v=s tells us why. :-"10st new suburban subdivisions have been designed to cater to users of private veh,cles. Disconnected routes with little or no walking area. luge lots. multi-lane arterial streetS. scattered destinations and shoppmg m21ls with acres or parking make it far easier and more appealing to move by car than by any other means. As businesses have moved to the suburbs. commute patterns have become hopdessly complex; commuters rravd from suburb-to-suburb. from suburb-to- city. or from city-to-suburb. Instead of dispersine congestion. chis "end has created new bottlencck.s and interfered with the ab, ,ty of mass transit to reduce private vehicle use. According to the California Department ofT ranspom.tion. congestion in major urban arcasis growing about 15% pcryear. Ifcurrcntrrends continue. by the year 2010. half of ill road traVel will occur under congested conditions. Congestion. added to longer distances bcrween work and home. means that people spend more and more time in their cars. As a result. workers arc less productive. f2milies have less time to spend together. and we ill have less leisure time. As planners Samuel Pool and Victor Dover have pointed OUt. a pareatwho spends twO hows per day in a car for commuting and other purposes loses 2 yars of pucnting time in the 18 yars bctwccn childbirth and college age. They also point OUt that. ac;cording to US Department Of T ranspottarion scatistia, the average &miIy in 1986 spent 25% of its income on owning and opcz2tiDg cars.. A second car requires about $7.000 in annual gross income. Government often responds to =ffie congestion by widening existing roads or bl.iJ.li"g new ones. But when land is used for roads. ir cannot be used for housing. business and open space. By some estimates. as much as 50% of the land in urban communities is covered with the concrete and :asphalt needed to serve the autOmobile.. Yet. more roads arc nOt an answer to cong<:stion. They arc just a mc:ans of moving more cars towml a given destination. That is because more roads tend to CDCOuage more people to drive. Soon. there arc just more places where COngestion isa problem. As somconeclsc once put it. building more roads to conaol congestion is Iila: loosening your bcJt to control obesity. Women are heavily ~R:-...<i by our '""P"",Iing use of autOmobiles. More often than not. women carry most of the responsibility for l2ising children. Today. this can often mean serving:as primary chauffeur. since a child's daily aaivities may be as effi:a;~ saa...ai as those of an adult. In a recent ppoli...;..~'Y stUdy. the U_S. Dcpamncnr of T ramportation tcportS that the number or miles driven by the avenge woman has increased 47% in the last 8 ye2tS. Our patternS of dcYdopment c:reatc disadvanages for men:as wdL Jane Jambs di.ccusscci this problem in her landmarit book. Th~ Durh andLift DfGrar Amman Cines, Vintage Press, New York (961), when she said: 8 . MoS[ c"y archie.aural design.rs and planners arc m.n. Curioush', they design and plan eo exclude m.n as pan or nonna!. daily lire wh.r.....r p.opl. liv.. . . W oeking places and comm.rc. muse b. mingled righe in with resid.nces if m.n. . . arc to b. around city childr.n In dailv lif.-m.n who are pan of normal daily life as opposed to m.n who put in an o=ional playground app=a: whil. they substltut. ror women at imiate the occupations of women. n Our automobil.-dependent society does not tlCat all peopl. equally. Th. homes needed ror workers and the offices offering jobs arc often loc:atc:d many miles apart. Those who would filllow.r paying jobs may not be abl. to afford the car needed to get to work. contributing to unemployment whil. keeping many jobs vacant. Mass rr2J1Sit may not be an option when the workplac. is not centrally located and a bus rid. may rake haws. In addition. large suburban homes are unmordable for most Americans. WhiI. th.r. is a reason for us to segregate some uses. w. have gone tOO far. Heavy industrial activities - refineries. heavy manuf2auring. agricultural prod- ua processing and the like must be segregated because they use hazardous chemicals. creare noise, emit odors, and/or use riangcrous equipment. However. most or our economy is now based on the: sc:rvic: scaor. consisting or activities which nced not be located miles from residential neighborhoods. Because suburbs scgrcgare uses. h-o..vo communities are not designed to keep eyes on the: streetS at various times or the: day and night, and be<-oll"'" job centers often become: gbost toWns after 6 PM. these: areas are less safe.. The: result is incrc:asc:d flight from commwUties nc::ar job Cl:Da:n and more: .-mingJy inaaaable: aime: problc:ms. Sprawl dc:vc:Iopmcnt dueatcns the: prcserY:ltion or open space.. We nc:c:d non-urbanized places to grow our food. p:ac:rve animal and plant species. allow storm run-off to replenish groundwater cables and redw:e the conCI:Daation or air pollutants. We nc:c:d parics and other open places to fed the sun. to see and smell green plants and l1owc:rs. to gad= together. to play. Finally. the: pattcms or dc:vc:Iopmcnt that have prcvailc:d in the: last several dc:cadcs have threarc:ned our sc:nsc: or community and dampened our sc:nsc: or comminncnt. PhilipSlatcrfocusc:donsubwbiain Tht:Pu:mIiz~Beu:sJn Press (1970), when he said: "r would like to sugcst three hlUJW1 desires that are deeply and uniquely frusamd. by American culture: (1) The: desire for community- the wish to live in aust and&a=nal cooperation with one:' s fdIows in a tOW and visible collcctivc cntlty. (2) The desire: for engagement - the: wish to come: direaiy to grips - -- - - - ,- ,- - 9 . 1t'7$ IIIlStalS2DDDZII2D'O AnnuII..~~_4 (CalltDmill) ...... mi_ 111_ .. . tn IIIIIianI -..- Automobiles and Air Pollution Krd- 1'=""'" Em.. _ By Trip a a. " I " 1 10 11 ..... ..... ...... ,.......r._'-...... wich social and interpersonal problems and to confront on <quai terms an cnvtronmc:nrwnich is not composed or ego-caensions. (3) The desire for dependence. the wish to share responsibilicv for the conuel of one's impulses and che direction of one's life." In neighborhoods where we only come to sleep. where chere ue no sidewalks and visitors ue only greeted by a garage door. it is often hard ro find a communicy at all. Ie is hard to feel the suPPOrt and protection provided by interdependence. It is hard to fc:eJ eng2ged wich loal policies or local concerns or to involve ourselves in local activities such as youth soccer or baseball. We conrinue to we our cars more and more.. While the population grows by 2% pery=. the number of miles cravdled in aucomobiles grows an 5% rate. Evecy mile hum. For instmce. according to the UlifomiaAir Resources Board. (ARB). in 1987. the average car emitted 0.6 grams ofhydrocarboDS into the aanosphc:re for each mile cravdled. As disquieting as these numbers nugh t be. all those short trips to che marker. school or the gym can be even worse.. The ARB reports chat II grams of hydrocarbons are rdeased jwr by starring a cold engme. And. of COUlSC, the: more we drive:, the: more crowded the roads gec. Driving in traffic jams mak.c:s em much less efficient and results in much more pollution. Accordingto the:ARB. when a traffic jam rums an 11 minute. 10 mile trip intO a 30 minUte: trip. hydrocarbon emissions inaeasc: by 250%. What is all of this driving doing co the: air? The ARB estimateS chac cars and rruda conaibured 43% of the: reactive organic guc:s (ROG). 57% of the n!=gen oxides CNOX). and 82% of the c,rbon monoxide (CO) emitted. during 1987 in the: major urban areas ofUlifor' Rc:acrive organic guc:s and nitrogen oxides respond to the presence: of swilignt oy forming ozone:. a major ingredient of smog. And of the mbome: parricularc:s which an: directly emitted. from both stationary and mobile: 50=. over half are dust kicked up by motor vdUcle activity on roadways. The Role of Transit There is considerable: interest in the: role: affixed-rail tranSit in redw:ingour depc:ndc:ncc: on aUtomobiles. This in_ is undencmdable.. Trains an: more enc:rgy-dlicient in opc:rarion than em and buses .........<(' they move on cracks at regulated spc:eds and carry more p3~gers. Often. they provide rapid crave:! by using -I...I;......-.i righa-of-wzy. They can hdp shape: land use: pl.nn;ng and business decisions because: they crc::u:e: a sc:nsc: of permanence:. Many of the communities thar cannor afford a rail cransir syste:m om:r public buses. All of the placc:s chat have rail systm1S also have bw systems. Most of the: f:aaors 2ifecring the success of a fixed-rail sysa:m also affect the: success of a bus sysrc:m. While 10 the need to encounge walking. bicycle riding, carpooling and telecommuting IS common co ill COmmUnlt1es. it's important to consider how our land we decisions add to or detn.cr irom our dtom ro promote rransit ridership. When the Bav Area Rapid T ransir System (BART) fim beg21l ro provide rrain service to San Fn.nCsco commuters. the number of car owners using the Bay Bridge ro drive into the city went down dramatially. Soon. h~r. the Bay Bridge was crowded again. Over the years. BART ridership has increased somewhar. bur the roads have become more congested than ever. BART cl=iy took drivers off the road. Y c:t it seems that if everything else remains the same. more people are willing to drive their cars when roads are less congested. Like a new freeway. mass a:msit enables more people to move more quickly toward a given destination. Unlike the hidden costs of using a freewav. the passenger's out-of-pocket COSt for mass a:msit is obvious and the times and places where cransic can be used are more limited. The introduction of mass transit aJone will not eliminate congestion. Ir, only makes a dent when ir is the preferred aJternative. .To be successiU!. mass crans;r must be the most convenient and 1= expensive way to go. Nationally. the most successful fixed-rail tranSit systemS are the subways and commuter trains in the older eastern and midwestern cities. In New York Ciry. forinsance. over a quanerofthose going to work getthere on publica:msir (Washington D.C. is tops in the nation. at 38%). But the population trends in the decades since World War n have ~ed mOre people to the southern and western portions of the nation. to places where rail uansit has not been built. or older systems have been abandoned. Among the = in California with 6:xcd-r2iI systems. the San Fn.ncisco Bay Area leads the packwith over 10% ofitsalmmuren using public a:msit.. But statewide. only 5.8% of commurers reiy OD public tranSit. Urgdy. growth in California is conceoazted in the suburbs and investment in fixed-rail tranSit has not kept up. Housing is dispened and suburban job devaopmeat has caken the focus off of the urban core, which has muiirionally been du: ceo_ of a:msit devdopmenc. In short, toO few people live and work close to tr3DSit stOps. According to the =u!ts of a swvey =tIy conduacd by the City of San Diego. 91.2% ofthepeoplegettoworkbycar.3.1 % bikeorw:alk,and4.2% rake public tranSit.. But when downtoWn almmurers are almparcd to the rest of the popularion. a di!fermt stOry is told. Over 14% ofw downrown worken use public tranSit to get to work. People often choose to rake their cars ro worlt because they have other things to do besides gerring to and from the job. Sometimes a car is the oniy pn.cricaJ means of gerring to an inren:sring pI=: for lunch. or finding a shoe repair shop. or picking up groceries on the wzy home. We use cars more often 11 Why Rail Transit Alone Does Not Oear the Roads Why More People Don't Use It - o.vo CIIywIIIe ....... SpMI for Ct-._. .. s.n DIego ~_..~_.. _ $!llll1or eommur... "-_~I ...~_._._. ~...... ~~ ~~. ~"'~ e:. -.. DeMIIy -.. Suppo,,. FIuoI T.. ~ I "1 n Sy- ---- because our transportation needs are complex. The kid's school mav not be in the same part of town as the doctor. The places where we shop mav not all be open at the same time. It becomes difficult to perTorm auto-dependent tasKs In dusters. Many people take their c.ars wherever they go to provide themselves with greater flexibility. Cars can go just about anvwhere. And if your trust\" car is bv vour side. it's easier to change your mind about where you are going next. Better land use planning can hdp address all of these issuC5. For instance. in reflecting on the greater tendency for downtown workers to use public tranSIt. the City Manager of San Diego identified the following factors: - the downtown area is pedcsuian-oriented - outlying employment centers are auto-orienced with readilv avail- able and generally free parking - the mix of uses downtown encourages pedestrian activity - the density of cc . oloyees across the downtown area is twO or three rimes that of. ::e outlying employment centers - downtown serves as the hub for the regional bus and lighttail transit system - more downtown employers subsidize employee t=sit COSts than in other areas of the city But how about that old villain. "lifcsryle"' Some people argue that Americans simply love their = and won't do without them. As the story goes. people like the privacy and the sense of independence that comes with locking the door. turning the key and playing the radio. But in the final analysa. isn't this really a matter of economics? Among those who have a choice. most people now pw -' private automobiles to the alternatives. But if public tr2I1Sit was faster and r; : convenient and if the dailv COst of driving was dc:arlymore expensive than the ....ternatives. how many people would stick to their = as a matter of 1ifestyie choice? Public =itcanDot be faster and cheaperwithout ridership support. And people will only support public transit if it is conveniently located. Boris Pushkarev and Jeffrey Zupan diSC1!SS this problem in their 1977 book. Pubiit: Tr~antiLantJ Uu P"Iiey. ~communitics become more compact. the demand for public mnsit inae2SeS. Where there are more people. = become both less convenient and more c:osdy. According to Pu.shkarev and Zupan. to suppon: transit, the genc:nl rule is there must be at least seven unitS of housing per = and the downtown area must contain at least 10 miliiOD square feet of office space. For very frequent bus service. a community needs at least 8 unitS per ace. A srwiy published in 1990 for the North Carolina Department of TI2D5porwloc. found that to support a fixed guideway sym:m. a community should have 43 units ofhousing pence within one-cightb mile of :urarioD and 10 units per = in the Dca: on~th mile. 12 Considering the size of mOst suburban lotS, it should be no surprise mar public transit orren lacks the ridership necessarv to SUppOrt more frequent service at lower prices. Tnis data also suggests rapid transit SYStems will never be self. supporting unless more people are able ro live closer to rransir Stops. :\nd whar about the comparative COSt of driving a car? The cost of driving is artificiallv low because the use of automobiles is so heavily subsidized. We pave and maintain streetS and then allow cars to use them for free. Yer, when we build light rail systems. we are concerned beause Wr box receipts may not cover the COSt of the system. Shopping centers absorb the cost of acres of free parking and downtown stores and restaurants validate parking garage tickets. Y c:t. how many commercial c:srablishments reimburse people for bus fare? Gasoline taXes do cover some COSts of driving, but most coSts are absorbed by businc:ssc:s and gener:Ll r:lX revenues. We have not begun to charge automobile users for the environmen- ral damage that they cause. Even today. people usually spend more money driving to their destinations than they would spend on public transit. This is not surprising, since most people drive alone and uansit COstS are subsidized as well. However. for most people. the subsidized cost of driving is attrac:ive enough to encourage the use of private c:ars. If air dimias and loc:a1 governments remove autOmobile subsidies. the difference in cost will motivate more people to use public =it. The result of our public: policy preference for automobiles is not a surprising one. Based on data=ulated by John Pucherfrom various sourc:c:s. here is how U.S. transportation habitS compare with those of other nations: 10 -- (__of_trlpel R AVllm-a"r"r . WaII/8Ir.e 11_ .~ 10 70 10 so .0 30 za 10 o ~S_ __ _ S t-~ ,... - a.-, fl J ~ s..- "TIle cost at clrivino is arttfic:illlly '- __ the u. of eutomoDila is 80 heevily suaaidized" 13 .:;~-- - ...-:-;:- ~.T-",,:~...,... -./ " - ~ ._.-:~~.. -- .~ ~ '# ' ~;,- -- ~;~ 4..1:L. . .. . . . '.- -7l;-' . . '4.,1 . - . . .- ----;:. ~ }-. , - - ,. '0, ,^-r .-;; .- t.1 ~~ .. 8_ ._. -. ~> ~. " L. ~ - ~ 6 .6 -.. --.--- - ----:.:---:---:.-r 0..../- . '- .;.- .. 6 _ ~4 1.:. ' . ,- . -, .4~ ~- - ',f .dL:. .~' ".; , ,',/,: -~ """- .. .,- ~ ..i. Jf _' ; .", ,'. .. .-' ,'.-:-":.r, .I #" . .~~2s:" ."._ _. . '..,' ........ ~.: ._-. A"'~_ '.::~ ... ~~ ~~. --=-:~. ~~- - - How Land Use Decisions Affect Automobile Dependance Communities planned since World War II lack well-located shops and services. A hallmark of suburban sprawl is that uses of the land are segregated. Homes are in one place. schools and parks in anothet. and shops and services are somewhere else. & a result. people use their = to accomplish even the most basic casks. In addition. since shops and services are not often grouped together in a logical way. the number of short trips tends to multiply. Friends are scattered so even social mvel depends on cars. How do friendships develop in our society? We meet people at school. at work. in our communities. When we live in sp2ndy populated ar~, public schools have to serve a wider geographic area. School friends will be likely to live further apan. When we commute one or twO haws ii-om home to job ccnter, our work-related friends might live an equal distance in the opposite direction. The result? We have to spend more time mvclling by car just to visit with our friends. And the long commute reduces the time we have awilable to spend with friends and family in the community. Increasingly in the last few years, office and light-industrial site develop- ment has moved away from the =ditionai urban core and out intO the suburbs. The larger complexes tend to attraCt multistory office buildings, shopping malls and hotels. Characteristically, these offices. shops. and hotels arc separated from the street by large parking lots and movement from one place to another can only comfortably be accomplished by car. One writer (Joel Garrcau) has given these places a name. He calls them . edge cities" and suggests thai: they arc becoming the predominant physical and cu!twal form in this country. Some such places are now bigger than the =ditional cities thai: arc their clo5CSt neighbors. One might think that if jobs are concena:u:cd in the suburbs, more people will be able to live closer to work and commutes will shrink. PI~nning Professor Robert Cervera has found that . despite the steady migration of jobs to the suburbs over the past d......,;e. mmy suburban residents commute fanher than ever." (APA Joumlli Spring, 1989. p.136). Ccrvcro attributes this to severa! factors: aclusionuy zoning that leads to an undeaupply of housing. rents and housing COSts that price many servicc workers OUt of the residential m2rk= near their jobs, and the growth in rwo-workcr households. Sprawl Suburban Job Centers 2 '~__nri_ of~ID___ 1IIe 1*1.... many ....n.n I . -' fItS __tMn_.- R_c.nwo 15 Lack of Transit Corridor PJ..nning Recent srudies also suggest that even where suburban jobs arc clustered near rail transit Stops. few workers will use cransir to ger mere. Perhaps that IS because our existing rail cransit SV'Stem focuses on the traditional urban core. 7he places where suburban workers Jive arc less likelv to be selVed bv convenient rail transit that would take those workers to their jobs. For example. compare me options of a worker in downtown Oakland with those or a worker ul suburban Walnut Creek. Then: are many more places to live within I 0 miles of downtown Oakland that are dose to the rnnsit system (BART) than there are within 10 miles or Walnut Creek. Suburban job centers are sddom walkable. The worker in a suburban tOWet is more likdy to be provided with a jogging path along a creek than a short. safe wallcwav to restaurantS and shops. Even people who live close-by are often motivated to drive to work rather than attempt to cross a six-lane arterial road. or navigate a series of parking lotS along the way. For all of these reasons. most of those who work in suburban iob centers depend on theit cars - to get to wotk and home. and to gain access to food and services throughout the day. In theeraofm=rcars. tt2dawere ofren laid bdore communities were built and the s= route heavily influenced the form that devdopment took. This trend was discussed in the North Carolina Department of Transportation's T ransitlLand Use Study for the Rcsc:arch Triangle area. Developmenr was dnwn to the sueercar route. The resulting communities were compact. with a well established parrem of mixed residential and commercial uses along a rdativdy narrow corridor. Pedestrian movement was emphasized. In contrast. newer rail transit sysrcms have been built in response to congestion and environmental concerns. This has involved an effcrt to adapt mass aansit to existing land use: parrems. which are ch.ancteri2ed by suburban sprawL In many ases, instead of putting transit in place.s where new develop- mentwas most promising. tt2dawere laid where right-of-waywas available. . As a result,' according to the North Carolina srwiy,"these systems wen: built intO an environment that could not fully support their operation.' While it would seem logic:a! that 1and use planners and rrmsit authorities coordinate their aaivities. this has typically not been done. 1& '- r- I..,. - - - - - J- ...... --';":""---1....-.,-- 1- --: ; ; '" ~ ,.. J r' f" I I ': 1"'- I \ rI- i" L r"": i :". ~---..; - ..; '-'~ ~ ..~........ ~-;-:f- .-! -:- ~...:- - I~ I"~- -I --- ,.; I -, -::- r ! ;;::-,. r~:.J' -Y. -;;.'f-- I, ,- r;_ ~ ~... i_I _ . \ _ {_ J ~, - - -. - .;...J.....-.6,r-' -............ -- - .-....., -::. ~.. ~ , .. .-' -~:- / , -', - ~. ........ , ~ Sola - DIll_I SIn - ~ 17 ,- ~ -, ,...... , 1.0 Introduction and Summary This report documents the analyses and results of the South Bay Rail Transit Extension Study. The study, conducted for the San Diego Association at Govemments (SANDAG), was undertaken with major participation and cooperation between the consultants, agency staff memberS, South Bay property owners and elected officiaJs. This chapter provides an overview of the project and summary of key findings and recommendations. 1.1 STUDY PURPOSE The purpose of the South Bay Rail Transit Extension Study is to evaluate the feasibility of expanding the existing and programmed rail transit services in the region to meet Mure transit demands in the South Bay. The Short Range Transit Plan for the area proposes express bus service in the 1-805 corridor, to be Implemented in fiscal year 1994. Neither this short range plan nor the long-range Regional Transportation Plan recommends extension of regional (inter- community) transit routes into the areas east of 1-805 at this time. The conclusions and recommendations of the South Bay Rail Transit Extension Study will provide the basis for modifying the long-range Regional Transportation Plan. Funding for the study was provided through the TransNet local transportation sales tax program. A South Bay transit evaluation was one of the projects specifically identified in the ballot proposition approved by the voters in November 1987. f'.~ 1.2 STUDY DIRECTION This study was conducted by SANDAG with input from the Metropolitan Transit Development Board (MTDB), Caltrans. San Diego Unified Port District, San Diego County, and the Cities of Chula Vista, Imperial Beach, Lemon Grove, National City and San Diego. A Policy Advisory Committee was formed to offer direction throughout the study. The Chairman of MTDB and elected officials from the County and each of the affected cities served on this committee. The Technical Advisory Committee was composed of staff and interested parties from a much broader group. In addition to agency representation, the development community and civic organizations such as the Sierra Club and the South Bay Transportation Coalition served as committee members to provide review and input. 1 2 r: r [ r 1 I I [ I; It Ii I~ Ii Ii I t II Ii , ., 1.3 STUDY LOCATION/BACKGROUND The South Bay study area addressed in this study is shown on Figure 1-1, along with the year 2010 highway network for the area. A number of jurisdictions are wholly or partially contained in the South Bay and project study area, including the County of San Diego and the Cities of Chula Vista, Imperial Beach, Lemon Grove, National City, and San Diego. The area south of State Route (SR) 54, the South Bay Freeway, is forecasted to grow from 223,600 to 364,900 residents by the year 2010, with employment increasing from 53,000 to 112.900 jobs in the same period. In addition, the Otay Ranch and other major new developments will provide land for additional new development well beyond the horizon year of the 2010 forecast Approximately 85 percent of the population growth through the year 2010 will occur to the east of Interstate 80S, from Bonita south to the international border with Mexico. By the year 2010, 45 percent of the South Bay study area residents and 41 percent of the South Bay jobs will be located east of 1-805. In addition to 1-805 and 1-5, the study area will be served by one new north-south freeway (SR-125) and two east-west freeways: SR-54 in the northern portion of the area and SR-905 in the south. Right-of-way will be reserved for High Occupancy Vehicle (HOY) lanes in all three of these freeway facilities. The State Transportation Commission has recently selected SR 125 as one of three toll-road demonstration projects to be privately constructed. The Chula Vista General Plan proposes additional east-west arterials to serve the area and provide access across 1-805 into the older portion of the City, Although several additional north-south arterials are proposed, these streets do not cross the Otay River to provide a connection from the eastern parts of Chula Vista to the industrial areas on Otay Mesa. Access to Otay Mesa, within the City of San Diego, will primarily be from SR-125 and SR-905. 1.4 SUMMARY OF FINDINGS AND RECOMMENDATIONS 1.4.1 Overall Conclusion The overall conclusion of the feasibility study Is that extension of rail transit into the South Bay subarea is potentially supportable along one or more alignments. A number of factors will directly influence the viability of such an extension: 1. Ridership levels are lower than other regional lines, resulting in less attractive cost-effectiveness ratios. Shaping Mure land use patterns can significantly increase ridership above that forecast with current travel demand models. 2. Land-use patterns in the developing Otay Ranch and Otay Mesa areas must be planned to focus activity at station areas. Site planning, density concentrations and mixed-uses must be employed to generate increased transit ridership. ::-:'Y OF SAN DIEGO -- I ~~ J1>~ r~ SANDE""C""TY " ,,-, C~ '"', --'- i i i i i i i i ar... .ve. /' ata, V..., ReI. t.,ftRlAL BE "'C~ OTA.v./\/€STO:< OUY ~SA USA ....- -- i ,i .1 Ii 1"1..AJANA RlVel:! VALLEY South Bay Rail Transit Extension Study San Diego Association of Governments :-.- k... ......... Me.. LiGENO _biltift9l~~ _ StudY Area ......, _ SaIl DieOO Troeey l~) S'T\JDY AREA ~ ,,!1.11 ,)-JIIIC!""..c """.:,,,...~ ,-- .. , ... < 3. Active station area land use management is necessary in order for transit services to be the most effective in the South Bay in serving travel demands. As the regional agency responsible for land use and transportation planning, SANDAG should work with each member agency to establish a program to pro-actively manage land use planning at station sites. National and foreign experience with land use planning with an orientation to transit has resulted in a more pedestrian friendly built-environment and has assisted in mee-'''g other regional objectives such as trip reductions, air quality levels and maximization of infrastructure investments. The key to success is to accomplish this action on a regional basis in concert with other programs to achieve the desired objectives. i 4 r r I I I I I I I I I I I I I I I 1.4.2 Analysis of Alternatives The study was initiated with a comprehensive inventory of the South Bay and an assessment of potential travel corridors to determine the physical suitability to accommodate fixed-guideway transit alignments. A universe of over 35 different alignment segments was identified. A detailed evaluation was conducted of these options with regard to physicaJ requirements, environmental sensitivity, capital costs and potential to serve travel desires. The evaluation resulted in definition of five LRT alignments as shown in Figure 1-2 and one commuter rail option. A more detailed level of analysis was conducted which examined the plan and profile location of possible alignments and station locations, estimated ridership using the regional travel models, estimated capitaJ costs and operating and maintenance costs and identified potential environmental impacts. The conclusions of these analyses are: . 1. Altemative C from the Otay Border to the Iris Street station on the South Une exhibits the highest ridership of the alternatives studied. The line replaces an express bus line assumed as part of the Base network which showed ridership volumes slightly less than the rail line. 2. Altemative A-1 from the border through Otay Ranch to the South Une near SR-54 showed the highest level of New Transit Riders of the alternatives examined, This is because of the types of land uses served and the difficulty in providing express bus service to serve the same trip. 3. The most cost-effective alternative in terms of Annual Total Cost per Annual Boarding is Alternative C which is 40 percent lower than Alternative A-1 . 4. The most cost-effective option in terms of Annual Total Cost per Annual New Transit Rider is Alternative A-1. The cost-effectiveness threshold used by the federal Urban Mass Transportation Administration is $10.00 per New Transit Trip. The cost-effectiveness caJculation for Alternative A-1 is approximately 4.5 times that level. Additional refinements to increase ridership and decrease costs are needed. ; ( \ \ \ '\ s... o.ee ,- \ \ \ \ \ \ \ \ \ \ \ \ \ ,I ,,' I. I -- ~ i"- - c ,.... ;;. - ~_.' s__.... - ,_ -J "'- --,,=.:" ~/ . . : t ;-... ~ r~~~~~ \ \l . -- : ..--. ..~ i i i i i i i i i i i i i i i i i i i i i i i i i i i i i i i I i i i i i i i i i i i i i i i i i ___.J .-..- ~ I~' ____~--\ ---.... - '/ " . '\ ,_/ ,. i i i i i i i i i i i i i i H Ii ...... .. USA -, ""..IGO - CONCEPTUALAUGNMENT ALTERNATIVES FOR DETAILED ANALYSIS' South Bay Rail Transit Extension Study San Diego ASSOciatIon of Governments RIm' I:'II."E__...'"'!I"~ _ ALTERNAtIVE A _ AlJElNAnvE AI .__ A&.1IIHA1IVE . _ AUllNAtIVI C _ AlJllNATIVI D AI. 0._____....... ~t' . .....- Q'I' ''\ --.. ,,--- - ,- "--'- .- .- ".1.2 L 5. Altemative B demonstrates significant transit ridership in the north/south direction for the South Bay. Relative to the other South Bay LRT altematives, the performance of this option is substantially cost-effective. < I " [ 6. Altemative D along 1-805 and the Commuter Rail option along the bayfront to Imperial Beach are both duplicative of other options or are competitive with existing services such as the South Une. These options do not contribute significantly to increasing the effectiveness of transit services in the South Bay. [ ( 7. Altemative E was examined which consisted of a combination of Altematlves A-1 and C. Altemative E exhibited an increase in boardings as expected from the combination of Altematives A-1 and C but roughly 80 % of the total if added separately. This altemative was found to be comparable from a Boardings per Train-Mile standpoint with the other altematives and mid-way between Altemative C and Altemative A-1 with respect to Total Annual Cost per Annual Boarding, The combined Altemative E was found to be slightly better than Altemative A-1 considering Annual Total Cost per Annual New Transit Rider at about 4.0 times the UMTA threshold. I 6 I ( I I I I I I I I I I I 1.4.3 Land Use Adjustments Current land use planning concepts proposed for the Otay Ranch and Otay Mesa areas are using techniques which concentrate development at station sites to take advantage of the transit access. Current SANDAG models do not account for this type of development pattem. The effect of the land use planning will be to alter travel behavior and make transit a more accessible part of everyday life. A factoring process is thus needed to reflect these conditions. Similarly, with LRT service to the area, additional trip-making can be supported without increasing the capacity of the roadway system to take advantage of investment in transit facilities. Within station influence areas and in keeping with maximum development levels proposed to date, the amount of residential and commercial development can be adjusted to reflect the added transit capacity. Research was conducted on land uses and response to transit service in San Diego and other locations and a factoring process was used to increase the forecast ridership for Altematives A-1 and C. It was felt this process was conservative in that only a portion of the new trips resulting from increased development were allocated to transit. The following results were found: . Considering both the differences in land use planning techniques and the increases in intensity, ridership was increased by 63 percent at stations in Otay Ranch and 43 percent at stations in Otay Mesa. ] , ) ] 1 J ] J J J ! ] ] J ] ] 1 ] 1 J . The increased ridership improved the cost-effectiveness by over 500/0 for each option. However, the Annual Total Cost per Annual New Transit Rider is still two to three times above the desired UMTA threshold ot $10.00 per New Rider. The following alternatives were identified for further study: . Altemative C from the border to the Iris Street station should be studied further. A significant opportunity exists to integrate the alignment and station areas into new industrial and mixed-use development on Otay Mesa such that ridership increases could be expected. . Alternative A-1 should be studied further because ot this option results in the largest increase in regional new transit trips ot the alternatives studied. Alternative A does not as effectively serve the new development in Otay Ranch and should be eliminated from further consideration. The ridership could be increased further with attention to land use planning techniques that are currently being used in the master planning process. Further alignment and station design work could also reduce costs ot structures and right-ot-way it held by the public or dedicated. . Alternative B serves and important travel path within the South Bay and connecting north into the eastern metropolitan area. Given the importance ot the travel path and the potential tor increased ridership from land use changes, Mure options for implementation should be preserved. This includes reservation ot right-ot-way in the SR-125 toll-road project. . Alternatives' D and the Commuter Rail alternative do not represent suitable improvements to the transit services in the South Bay or are duplications ot services which are superior. These alternatives should be dropped from further consideration. 1.5 ORGANIZATION OF REPORT Following this Introduction and Surnmary Chapter, the report is organized in five sections: 2.0 Opportunities and Constraints Analysis - examines physical features, socioeconomic forecasts and Mure travel demands and uses this information to identify potential rail transit corridor alignments. 3.0 Segment Evaluation and Identification of Route Alternatives - evaluates each candidate segment. compares the possible linkages to travel patterns and defines corridor route alternatives tor detailed analysis. 4.0 Detailed Development and Evaluation of Alternatives - conveys the results ot detailed plan/profile development ot alternatives and evaluation of ridership, capital and operating and maintenance costs, and environmental issues leading to a cornparative evaluation of options. 7 J , 1 1 1. 1 , 1 1 1 .., 1 1 1 1 1 1 1 i 1 5.0 Land Use Enhancements to Increase Transit Ridership 5.1 INTRODUCTION The objective of this chapter is to identify land use enhancements to increase transit ridership in the South Bay study area. Since little of the southem portion of the South Bay area is currently developed. a significant oPf-"'rtunity exists for the planning and implementation of new land uses to be influenced and managed to achieve regional objectives regarding urban travel. This is important considering current regional air quality and growth management goals and objectives. The enhancement of land uses around Mure light rail transit (LRT) stations to increase ridership is premised on the fact that high levels of activity are necessary for successful transit services. To take maximum advantage of the investment in LRT. residential and employment uses should be clustered within convenient walk distance from stations (feeder bus "design" beyond walking distance), This may mean changes in land use and site planning are necessary in station areas. 5.1.1 Organization of Chapter This chapter describes ways to promote compatible private urban development around LRT stations identified previously in the study. The chapter is divided into four sections: 1. A description of key characteristics of proposed South Bay land use in the developing Otay Mesa and Otay Ranch areas. 2. An overview of the effects that LRT may have on land development and the general development expectations that may be associated with LRT stations. 3. A description of the approaches that other American or Canadian metropolitan areas have taken toward land use planning and development in connection with their LRT systems. 4. A synthesis of ways to promote compatible development around transit stations. 5.1.2 ,Summary of Ways to Focus Development Around LRT Stations Section 5.3 of this chapter explains techniques to focus growth and development in detail. A brief summary of general conclusions is presented here. Essential factors for successful land development around light rail transit stations include (a) strong real estate market. (b) public support such as land use regulations and incentives (both financial and non-financial) and (c) high transit ridership levels. With these factors in place. LRT may focus and even induce substantial amounts of development around station areas and. to a lesser degree, along lines. However, LRT 77 does not normally induce growth that would not have otherwise occurred somewhere in the market area for each particular land use. Growth around station sites is primarily captured from another location in the market area. Locat land use policies must support transit use and station area development, and station area land planning should begin far in advance of station construction. Several American cities have demonstrated success in station area development through public planning and participation. Regional transportation planning and corridor land use planning should be coordinated to maximize station area potential. That is, the value of station area real estate can be increased by restrictions on the ease of automobile movement, a light rail transit system that competes well with driving, and relatively compact urban form. Ukewise, proper station area development promotes transit usage. Tools to promote area development include: . Land Use Planning and Urban Design . Transportation System Planning . Zoning . Public Utility System Improvements . Financial Incentives . Joint Development 5.2 EXPECTED DEVELOPMENT IN THE SOUTH SAY STUDY AREA 5.2.1 Overview The introduction of LRT into the developing South Bay area will be unique in the San Diego region because of the type of travel that will be served. Study of expected travel patterns in the area at full development of existing plans indicate the transit line will serve significant suburban-to-suburban travel. The Otay Mesa border crossing with Mexico will also continue to increase in importance as a trip generator. Connections to Centre City will be possible but the primary travel demands will be within the Otay Mesa and Otay Ranch areas. Recent implementation of rail transit systems has been undertaken in established urban areas rather than in new suburban locations. This has required design of each system to fit into existing land uses. Because the Otay Mesa and Otay Ranch areas are largely undeveloped today, a significant opportunity exists to make suggestions on land use configurations around transit stations to enhance the attractiveness of transit use and thus increase ridership. 78 ] ] ) ] ] ] ] ] ] -, ] ] ] ] ] ] J 1 I 5.2.2 Otay Mesa Planning Area Otay Mesa is an area of approximately 6.000 acres along the Mexico border south of the Otay River valley and east of 1-805. The area is expected to be the largest and potentially the most important industrial use area in the City of San Diego. A Planned Development Ordinance has been enacted by the City to guide planning in the Development District. The area is planned around existing Brown Field. a general aviation airport on Otay Mesa Road in the north-central portion of the District. The area has also been the focus of planning efforts to locate a new regional airport. possibly in conjunction with Mexico as a bi-national facility. A major portion of the area has also been designated as an Industrial Foreign Trade Zone. As indicated in Figure 5,1. a number of Precise Plans and Tentative Maps have been approved for Otay Mesa. Over 4.000 acres of industrial uses are planned with about 7.1 million square feet of building area approved. Approximately 3.1 million square feet of building permits have been issued. Development plans have been approved on about 630 acres totaling 25 million square feet of office. warehouse and light industrial uses. The Fioor Area Ratio (FAR) for these uses is 0.295. Plans approved along Otay Mesa Road result in some of the higher FAR's in the area. Considering 12 projects along Otay Mesa Road. the total floor area is 2.041 million, square feet of building area on 5.554 million square feet of site resulting in a FAR of 0.37. Generally. site plans for these projects follow traditional guidelines. Buildings are normally placed in the center of the site. Parking surrounds each building with parking surfaces used by pedestrians to access the facilities. Access for transit patrons from the street can often be the longest walk-distance for any employee. Nine Precise Plans are currently in process for residential subdivisions. The residential areas are all west of Otay Valley Road. Roughly 15,000 to 18.000 dwelling units with supporting commercial uses are spread over 1,800 acres. This equates to an overall residential density of 5.6 dulacre at the lower end. The residential plans also follow traditional schemes. Single family parcels take-up most of the acreage with a few selected nodes of community and neighborhood centers. A Town Center has also been designated for the site north of Otay Mesa Road at the proposed PaJm Avenue intersection. ResidentiaJ projects are currently in the planning stages and design guidelines for the Town Center are being developed. 5.2.3 Otay Ranch Planning Area Otay Ranch is one of the last large undeveloped areas in the San Diego region. The Ranch Planning Area is broken into a large western parcel with most the wester portion of the expected development and two smaller parcels to the east in the foothills. The western parcel contains the possible LRT alignments and is the focus of this discussion. 79 I I I I , , ~ ~ . ~ ~ j~i~i! Q,,~~."": 1',. J!" fi ; i. ~ _:u-=~i ... 'I gHi ~~. ~ t' ~J!8..!18,r.i ~ E' >0>0.... ~! .~ r25!]g!-:~ !1."".... oc:a~ \8,.......0:;;;"'...,., _G:,......:::::::'" ,!. I ,'";"c;lQ_a .::_J-ckJ.<!' .. ....... ~:::~::;..:.,;..~ """"..,,., L ,- .. .. . . r , I " . .' i ~:I:II i ,;" , i Jh:: i 1Ji!: .: : 2':'~;! :::i::= -:.; .!!:J eII:t :! :1::: :: ~!!!! :.~~..;;; -: : ': ~ l ~ ;. : ': :, : i.~ !~I l!!~j i ~!1 ;:!!,-:: ii.... ! :.- 'J :l'l': jJ ; :...j.; ,1-- ,--- !I;;~::: ..:::::.:. :~:::::; o . .: . . ! : ~ .. : -: .! .. .. u .. ~ .: ': .s ,: .. : : . ': ~ . 0'" :::a .: : ; ~ :.: ': ': .. . . . . . ::~i ~!' ;:=::: ZZ~;;;: ..:::- -::: :; -::i:; : : : i . .: i ~ .; -: : : ~:.i.= r: i :.:. . ;~i~ia=: ;':;:i~:2: ::::=:~~ Z!;",:: ~:~:::=: ..-:....,;. o 0 o . u 0 : ~ ~ ~..:: c ..__~ c ::.::.=~~ )0,'::" 'g,;.g ~ E =>0.:1 .Y"; c ,... c ... ao.:lo ;E=:g::~i':-5 QO~;:"'" ~2 "'.....fA caUQw": . . . ~Z~ -.., I~ @J '( ca f:! c( c ca Q: ~ - C ::2 e e o o ca f) G) :E >- ca - o ~ c ~ o ~ ii I~ n lij .B f" '" o r o i o .. l; u e ~ o en t- Z Z < W ..J :::t "" UJ c.. en 0 U en .... W UJ "" >(/) c:: < . ; "" ::ii Wt- Q U) Oz UJ > OW en - w::E o ~ t-W '-'- "" .... Q..W o Z Oc: c: UJ 0" ~ t- << 01 0 . 01 L - .- UJ C as ... t- ., i ~ " .. 1: .. ~ >o~ = "C ! as ='"' a:cn~ >0 .g as C.!!! aJ .2 ~ J:UJ~ _ Co = .! .i' o >C ~ ,,-rn w ~I ~ ~ ': . . c a. .fi : . - ... ... ... fU , , < ~ ::: - - - ffi) , j r Q J 1 J 1- J , J 1 ] J J J J ) J } , J . , I The western parcel as shown in Figure 5-2 covers about 9,400 acres and is planned to be home to between 40,000 to 60.000 people depending on the ultimate land use plan adopted. In a unique process. two development plans have been prepared to be compared and reconciled for final adoption. The developer has prepared a plan for review as has a cooperative effort between the County and the City of Chula Vista. Known as the Joint Planning Group (JPG), the County/City effort was initiated to provide an alternate development plan for consideration. Recent work has focused on the consolidation of the two plans into a single, ;: joptable plan. The ultimate plan for the area will result in a number of interesting elements: . Between 20,000 tq 30,000 housing units which would result in gross overall density of 2.2 to 3.2 du/acre. The somewhat low densities are a reflection of the high proportion of open space in the plans at 55% of the totat parcel. When the open space is subtracted, the net density becomes 4.7 to 7.1 du/acre. . Roughly 200 acres will be set aside for commercial and office uses. This area will include establishment of a major urban center similar to North University City. Anticipated development levels in the East Urban Center would include: 1,8 to 2.0 million square feet of neighborhood and regional commercial uses; 0,5 million square feet of visitor commercial uses; and, 1.8 to 2.0 million square feet of office uses, . Designation of a site for a University of California campus on about 380 acres. Adjacent to the site would be research and development related industrial on about 500 acres. . An Olympic Training Center, which is under construction, has been located adjacent to the eastern edge of the parcel. Special event activity may result in significant generation of travel demands, Early in the process, it was decided by both the developer and the JPG to focus development around a series of villages. Nine villages are planned on about 2.400 acres. Table 5.1 presents calculations of density differences for mid-range and maximum levels as calculated by the JPG. 81 !~w I ... <0 i ~ r.I'1 Lr !~ I. I' U gi) ; ;: . <J = ~ . iD..Q ~ C-a:5_ . ~ ; s-! :; = e.!i~ i .e.......Q. 00.'0.0 t-(JIU.i~ <J en go~_~o '" ~ ~ ~ ;: Q ~ <J ... ~ . ..._ 2 .. .s -,!! '" ...... '" -. :-i~~:! ~ .. I!-. - ;~ .-w_ ~ Q.~:"iO~ .o=.g!:c ClcZ~~a:a::> 01 ~ z: 0 ~I I!o!!oib ~I 9::;;da:c::> lID rea CI) ... < C ea is: ~ c ~ E E o (,) .c u c ea a: >- ea - o @f ~ . "u >- i" .J . ! 1 J . ~ 5 ! ~ .. '" .. a, ( r ::::: - -en en C i as E - E t- >-~ -'Cc3 '= ~- ... _ 0 c:: en .~ >- c.S! as 0 ~ OJ 'Ci) ~ ~ .c CO::: - G).~ = ~ -0 _ O><~m en W (I).ill .\. ~ r c r r ~ at = .,. . . = ;;, = w . l : . - ... r r .. I l TABLE 5.2 OT A Y RANCH RESIDENTIAL DENSITIES MID-RANGE AND MAXIMUM DEVELOPMENT LEVELS MID-RANGE MAXIMUM VILLAGES Total DUs Density Total DUs Density West Poggi 2,400 6.2 3.200 8.1 East Poggi 3,500 7.3 4,500 9.3 Village A 980 10.9 1,240 13.8 Wolf Canyon 830 2.2 1,230 3.3 South Orange 1,900 11.9 2.400 15.0 University 4,250 15.1 5,200 18.5 Rock Mt. 340 1.2 470 1.7 Valley View 1,730 8.9 2.200 11.4 E. Urban Ctr. 3,000 30.0 3.000 30.0 Total 19,000 8.0 23,400 9.9 Source: JPG Concepts, June 1990 5.3 THE LEVEL OF DEVELOPMENT THAT MAY BE EXPECTED AS A RESULT OFLRT This section summarizes the findings and conclusions of several sources on the subject of how LAT can be expected to induce or support land development. These sources include a study commissioned by the U.S. Department of Transportation and seminar comments by representatives of several cities which have actively used LRT to promote and shape growth: Portland, Calgary, Toronto, and Edmonton. The dozen or more North American communities which have developed or expanded light rail transit systems over the last ten years have varied greatly in their planning (or not planning) for land development near stations and lines. Most cities with recent new LAT systems initially did not actively plan for development around station area with the result that the station areas have attracted little new development until recently. In contrast. Portland, Calgary, and Toronto actively planned for changes around stations, resulting in significant new development after the systems had been in operation several years and ridership potential proven. There are two fundamental principles observed in these cities relative to promoting growth through LAT investments: 1. A program of land use planning, zoning. urban design, and development incentives along with a variety of means of boosting transit ridership must be formally put into place. 83 2. The public planning and incentives must be accompanied by a healthy development market to capture proportionately higher growth than would occur without the transit line. 5.3.1 General Conclusions Among the published and unpublished documents on the subject of LRT and associated land development, there is consensus that rapid transit improvements are but one element in the development process. That is, LRT by itself is not a sufficiently powerful force to induce or attract urban growth which would not have otherwise occurred in the market area for each particular type of land use. Factors more important than the presence of an LRT station or line are (1) market forces (supply and demand, location, and demographics) and (2) public support for development (such as land use regulations and development incentives, both financial and policy-oriented). With both of these factors in place, as in Portland, LRT may induce substantial amounts of development around station areas and, to a lesser degree, along lines. Without these factors, as in the case of the San Diego South Une, little economic impact should be expected. Market support for development near station sites cannot be assumed but should be verified to the extent possible through studies. The corridors served by the LRT must be the growth areas of the region or at least have strong growth potential for competing successfully in a competitive market. If the regional economy can support only a slow pace of growth, it will be more difficult to attract significant development in the vicinity of stations. Development around LRT stations is rarely net new growth to the region but is normally growth attracted from another location. Over the long term, it is also helpful if the selected development corridors also connect residential development to growing commercial activity centers, . If Mure commuting connections require cross-system travel, it will be difficult to induce changes in residential patterns that will support Mure development. Finally, some amount of existing development is important as a catalyst for further investments while there should be sufficient land available for expansion. 84 [ { [ [ r [ r Although information on the expected ridership as a result of land use changes is limited, a few sources were found which illustrate the relationship: . In the report, "The Promise of California's Rail Transit Unes in the Siting of New Housing", Special Report to the Senate Transportation Committee, April, 1990, conclusions drawn indicate although "the data on ridership by Californians who live within 3,000 feet of rail transit stations is very limited, ridership of these persons is over 30 percent of all residents in commuting to work, compared to 10 percent among persons who work near rail transit stations." . In the paper. "The Effect of Transit Service on Trips Generated by Suburban Development", Kevin G. Hooper. ITE 1990 Compendium of Technical Papers. the following relationships were identified for suburban Washington D.C.: For suburban office development. there is a direct relationship between mode share and proximity of the office to the rail station: within 500 feet of a transit station. a mode share of between 20 to 25 percent can be expected. The mode shares reflect use of rail and heavy feeder bus. For suburban residential development. lransit mode share for work trips and distance is related as: _ 400 feet. mode share of 60 to 70 percent _ 400 to 1.000 feet. mode share of 50 percent _ 1.000 to 2.000 feet. mode share of 30 percent For suburban retail development. significant transit mode share can be achieved for the first 1.000 feet from the station entry. a mode share of 40 percent in the aftemoon peak can be expected declining to 20 percent beyond 1 ,000 feet. Peak period transit mode share at hotels within 2.000 feet of a transit station were found to vary from a high of 20 percent to zero. The average was 9 percent but no correlation with distance was found. I I I I I I I , . In the book. Public Transportation and Land Use Policy by Zupan and Pushkarev. 1978. certain thresholds for land use intensities were defined for various transit technologies. For successful application of LAT. a center city core should exhibit between 20 and 200 million square feet of non-residential floorspace. Inference may be made that such a threshold. or some major portion of the threshold. could apply to a suburban center as well. Residential densities were defined as follows: LRT. headways of five minutes in peak. average density for a corridor of 25 to 100 square miles of 9 du/acre. Express Bus Reached by Auto. headways of 15 to 30 minutes. average density over 20 square mile tributary area of 3 du/acre. Express Bus Reached by Walking, headways of 20 to 30 minutes. average density over a smaller two square mile tributary area of 15 du/acre. 5.3.2 Findings of the U.S. Department of Transportation A recent study (Economic and Development Impacts. Douglas Lee, U.S. Department of Transportation. 1987) took a very pragmatic view of the impact of rail transit on land development. Although Mr. Lee is a proponent of mass transit. he emphasized throughout his analysis that while transit is very definitely an asset to urban development. it is difficult to document that fixed-guideway transit systems can effectively shape development patterns. Furthermore. he contended that rapid transit improvements are but one element in the development process. More important factors are those cited above: market forces and public support, 85 .. Landscaping: 1. Use plantings. earthen berms, and attractively-designed watls to separate or buffer incompatible types of development. 2. Use landscaping to announce the station and improve the visual aesthetics of the station and its vicinity. 3. Plantings should be used to shelter transit users from harsh weather. r .. .. Pedestrian and Bicyclist Circulation: 1. The pedestrian and bicyclist environment within the station itself, between the station and nearby development, and among station area activities should be designed to be safe, pleasant, and protected from inclement weather. Ughting, landscaping, pavement texture, and route atignment should atl be taken into account. '"' L 2. Pedestrian passage through developments adjacent to the transit station should be promoted in addition to peripherat movement. r. 3. A pedestrian precinct within a ten-minute watk of stations, both at the production and destination ends of the trip, should be defined and watkway improvements installed there. " . I 4. Neighborhood and city-wide bicyclist systems should be redesigned and improved as necessary to provide safe. attractive access to stations. This should include the provision of functionat bicycle racks at stations and nearby private development. M L 5. The needs of handicapped individuats must be considered, ... , 6. The station area deveiopment plan should include the assignment of responsibilities and the sources of funding for implementation of the pedestrian and bicyclist system. [ [ Public Open Space: 1. Use public open space to buffer stable, low-density neighborhoods from the adverse effects of higher density development near stations. Achieving good neighborhood "fir will atlow greater use of land near stations. .. ! 2. Create compact public open spaces immediately adjacent to station platforms for civic purposes. ,. L 3. Include public art at station sites to build local identity, bolster pride, recognize local history or achievements, and overall create a more pleasant environment. r r l 97 '" l J 1 1 , 1 , 1 , J -' ~ J 1 ] ] 1 ] 1 J ] 5.4.2 Transit System Planning A second way to promote urban development and redevelopment around transit stations is to plan and promote a highly efficient and desirable LRT system so as to maximize the accessibility of the stations, to draw more people through them, and to enhance the appeal of living in their immediate proximity. 1. The LRT system must be regarded by the traveling public, particularty commuters to the downtown or to outlying major urban centers. as more attractive than driving. Transit system routes must be carefully selected, stations located and spaced to balance ease of access and swift train movement, bus service should be partially rerouted to provide timed access to stations. train capacity and headways should provide comfort and convenience. fares must be perceived to be competitive with driving and parking costs, and auto access and station area parking must be considered. The bus system must be redesigned to carry patrons to the LRT stations. Transfers between bus and rail systems must be very convenient, including a compatible and easy to understand fare structure, minimum walking between modes, timed connections. and bus priority movements at busy nodes. 2. Restrictions on the growth of freeway capacity should be considered as part of an overall metropolitan transportation and land use strategy which is less dependent on the automobile and more conducive to transit use. 3. The City may study and adopt a method of either restricting the number of downtown parking spaces or creating disincentives to all-day parking by increasing its cost through a tax which is earmarked for the LRT. bus, and carpooling transit system. 4. LRT system planners should seek to route transit lines through areas which are planned for medium-or high-density residential or commercial development, thus creating an immediate symbiotic relationship between the high-capacity transit access and the high levels of person-activity. 5. The transit line should connect activity nodes in a logical manner and, if possible, lines should terminate at major activity centers. 6. A strong feeder bus network is necessary to support fixed-guideway lines. The flexibility of buses within urban zones is important to maximize accessibility for all residents and employees. Large sites or groups of employers may collectively establish shuttle services at shift change to help employees access the LAT line. 7. Programs to market the transit system to both patrons and the development and real estate community should be included. Marketing programs are essential to maximize ridership and recognition as well as to create a psychology compatible with station-area development objectives. 98 Building Site Lots: No IntenSity Possible Building Site Decks: Intensity Possible; Parking expensive ~ .~ I Satellite Lots: Intensity Possible; Savings can Go To Transit Line SOfUU: Land US#! D<<isimts SupporriWl of P'op~ Mt>tIeTs; Waltu KIIiAJh (1990) South Bay Rail Transit ...:xtension Study San Diego Association of Governments Office Park Site Design - Parking Management Options ffilllt'" FraMr Eng~nv Inc. ~ ~ ] 1 1 1 1 1 ] 1 ] J 1 J 1 ) 1 1 1 1 . L 5.4.3 Zoning Many of the traditional zoning techniques with which most planners are familiar can and should be used to enact land use plans in the vicinity of transit stations. These tested land use controls can be successfully tailored to fit local circumstances and needs when applied in an equitable manner and with consideration for due process requirements. In many cases, zoning ordinance amendments may not be needed; existing districts may be used to achieve the desired results with a few changes to the zoning map. Other times, ordinance improvement may be desirable. Zoning techniques to consider may include but are not necessarily limited to the following: 1. A review and reaffirmation of the current zoning in stable neighborhoods where no change is planned. 2. Transitional zoning in the form of intermediate density housing or commercial activity; this may be mapped between high-density development adjacent to stations and low-density stable neighborhoods. 3. New, higher-density residential or commercial districts, especially including lessened setback or parking requirements. 4. Planned-unit development zoning, particularly including vertically mixed uses. 5. 'Overlay' zoning in which special requirements and/or review procedures may be added to the pre-existing zoning district. 6. Air rights zoning to promote economical vertical integration of transit lines and private development and to capture part of the value created by the improved access. 7. Density bonuses in exchange for publicly desirable features such as transit system amenities, pedestrian- oriented design, public open space. streetscape improvements, underground parking, vertically mixed uses and close integration of LRT and private buildings. Temporary development moratoria may be used to forestall undesirable growth while station area plans are being prepared and/or new zoning controls are enacted near stations. 5.4.4 Financial Incentives A wide variety of financial packages may be tailored by local governments or community development corporations to address individual market conditions and the desired role of the public in the station area development process. As mentioned previously, public participation may occur either in the form of joint public-private partnerships or through a public agency or corporation as the lead financial and packaging actor. 99 - - - - - - Buildings centenld on own site <>>en ~ce fragmented ~ Pal1tlng dictates site design [ r ~,.,.'" ~~:.'~"':'-:::';':~">>;-:'!-'_.;: ".,.,," . -W,.-_-:._:..t_~":~;;"":'<';'~_';;" ..,. . . . -....>.,. ....';.~:..,.:./~."._'.., Dispersed Land Use r I .. Open ~ aggregated Into large parcels [ [ [ Buildings focused on transit stat;ons Pal1tlng on one aide of site r I ~ Clustered Land Use [ [ r - Source: Land Use Decisions S"Pporrive of People Movers; Walt", Klliash (/990) ,- , .. E1B [ [ South Bay Rail Transit Extension Study San Diego Association of Governments EBlllt\\' Fra_ Eng__lng Inc. Office Park Site Designs - Dispersed and Clustered Land Use ~ r- , I - ] 1 1 1 1 } ] ] } 1 1 1 ) J } ) Transit related development Automobile related development S"""",: Pub"" S,,... [Of' Pub"" Us.. Ponl4NJ's Art"';"; StnJIS C~ D_.(987) ". t.::::::!JiP ......;a. . -' . -..... eo' - --me. ~ ~ ~\ e:y &~\ ~y ~\ -.- I I :g I I I \~\: /~ \~\: ifl I \~ P; I D. IIJIJ Undesirable Buildings separated from street by parking em eu~ ~1"D'" tel . - - - -. - . . .,. - .... - - - - -. . ~ em _ill Desirabie Parking behind building S""""': G~[",Pub""Tr_iIISnvJIIC",..",..,wiu,SnvJIIC",.",.".;rySYsums. Brandt. Urbai< T rGIUU AIIl/rDrUy 0; British ColMmbitJ.II980) J r / South Bay Rail Transit . Extension Study J San Diego Association of Governments I '- E8BR\\' "'- Ena...... Inc. ~ PIlI Compatible Site Designs -. 1", Retail Areas ~ ~L Another study for the U.S. Department of Transportation by Robert L Knight and Usa L Trygg, Land Use Impacts of Rapid Transit: Implications of Recent Experience (1987). included the following conclusions: 1. Rail rapid transit improvements can influence land use significantly when supported by other essential factors, including land use controls, availability of land, attractiveness of surroundings, and regional demand. 2. Because of the likely slow pace of land use impacts, major earty public revenues captured from such impacts should not be counted on to finance subsequent phases (beyond 10 years) of transit expansion. 3. Rapid transit improvements might be used as one element of a coordinated package of efforts to revitalize a declining metropolitan area but should not be relied on solely or even primarily for such purposes. 4. Recent major transit improvements have been important inducements to downtown development near stations, but only when supported by other powerful factors (demand for office and retail space, availability of land, placement of the station, and other public investments). 5. Recent major rail transit improvements have played a key role in intensification of land use in station areas outside the CaD but only when joined with other favorable farces (community support, station site access and physical characteristics, available land, and suitable land use controls). 6. Although evidence is limited, recent experience provides no indication that any rapid transit improvements have led to net new urban economic or population growth in the market region. 7. In addition to impacts of conventional rail rapid transit, some recent major commuter rail improvements were found to have contributed to land use intensification. Evidence on light rail and busways was sparse and inconclusive. 8. Local land use and other related policies should be identified more precisely, and transit-related land use impact objectives should support these explicitly. 9. Commitment to local land use policies supporting desired land use impacts should be demonstrated before the transit improvement is begun. 10. Local land use policies have often been instrumental in facilitating transit's land use impacts. At the same time, the transit improvement itself has sometimes provided the rationafe needed for acceptance of such policy changes. " 86 . ] ] ] ]. ] ] ] ] ] 1 . J ] ] ] ] ] ] ) J 5.3.3 Common Themes Expressed In Other CIties A consensus of ideas relative to land use and development effects. emerged from representatives of LRT systems in Portland, Calgary, Toronto and Edmonton when they gathered for a seminar hosted by the Twin Cities Metropolitan Council and the Twin Cities Regional Transit Board on May 18, 1990. These themes are summarized below. Positive Development Impacts: . LRT not only moves people, but because of the enhanced accessibility, offers cities an opportunity to shape and guide additional city growth, consuming less land and generating less traffic. . Increased land use densities around stations can create more dynamic pedestrian centers that possess an active, human character. . Underutilized or blighted properties in the vicinity of stations can be redeveloped or upgraded, revitalizing that portion of the community. . LRT can increase a community's property tax base with increased land valuations. particularly in LRT station areas. Much of this tax base growth represents a redistribution from other locations, possibly within the same municipality, however. . Commercial properties in station area attribute improved business to the increased pedestrian activity and visibility that the LRT has provided, Effective Preservation of Stable Neighborhood and Businesses : . Early involvement of existing businesses and neighborhoods in station area planning ensures the community that their concerns will be positively handled, developing a greater degree of public trust. . Station area planning graphics were utilized to communicate with existing businesses and neighborhood concerning proposed land use changes, access and pedestrian amenities, and where no significant changes would be made. to assure neighborhoods that no further development would occur. . Community environments in the vicinity of stations have been preserved and even enhanced with effective urban design and landscaping measures, and in some cases with down-zoning. Positive Transportation Impacts : . LRT provides these cities a fast, reliable, highly visible, high capacity transportation alternative. . Overall transit system ridership can be increased, through land use development policies thus reducing reliance on roadways to accommodate travel. . The potential of financing transit with private sector sources can be enhanced with LRT but only in a highly competitive real estate market where it can be 87 demonstrated that the retums to an investor would be increased by an amount greater than his/her investment in LAT, while risk is minimized. 5.4 TECHNIQUES TO FOCUS DEVELOPMENT AROUND LRT STATIONS The previous sections of this chapter addressed the development expectations which may be associated with LAT stations and the conditions which must complement LAT to achieve results, The approach and experience of several American and Canadian cities were briefly described as a means of illustrating the relationship which may be developed between light rail transit and land development. The following section will describe the various tools which may be used in the South Bay to leverage a change in land use master planning in coordination with light rail transit. These include: 1. Land use planning and urban design 2. Transportation system planning 3. Zoning 4. Financial incentives 5. Public utility improvements 6. Joint Development 5.4.1 Land Use Planning and Urban Design Every metropolitan area which has demonstrated success in redeveloping the vicinity of LRT stations has engaged in a process of planning and designing the 1/4- to 1/2-mile radius area of the station prior to the advent of the station. Similar but less intensive work has also been conducted along the rail lines between the stations. The Objectives of Station Area Planning Process While every station area land use plan should be tailored to local needs, desires and values, there seem to be several objectives which ought to be considered in South Bay: 1. Coordinate land use decisions with the LRT development process. 2. Make more intensive use of land near stations so as to take advantage of its improved accessibility and also to encourage the use of LAT. 3. Establish a pedestrian-friendly environment in and around stations. 4. Preserve the scale. character and quality of attractive, healthy neighborhoods along with individual buildings which have special architectural or historic merit. 5. Minimize the potential disruption associated with LRT construction and operation. 88 J 1 J ] 1 ] ] 1 ] .. ~ ] J ] ] 1 ] 1 -J I New housing in the immediate vicinity of stations should be built to a density of at least 25 dwelling units per acre. Commerciat development should be designed to minimize land devoted to parking and driveways. should be combined with housing or offices when possible. and should protect nearby housing through careful use of landscaping, berms, watls, lighting, trash handling, traffic control. and hours of operation. Ukewise, reasonable attempts should be made to maximize the floor-area ratios of office buildings near stations. Public open space and special urban design treatments should be strategicatly used to soften t'1e effects of increased density, Process of Land Use Planning The process of land use planning should proceed in step with that of light rail transit. That is. broad assessments should be made of land use in corridors when alignment altematives are being studied and successively more detailed studies conducted as finat alignments are seiected. station areas evaluated. stations sited and designed, and transit operation commences. Phase 1--Corridor Assessment: The South Bay Rail Transit extension Study is the first of several corridor-level studies that will be required as LRT implementation is pursued in the South Bay area. At this level of study. the ability to change land uses to support transit is a key measure in determining feasibility. Fixed-guideway transit can also be considered early in designing sufficient transportation capacity. Competing transportation facilities should be discouraged. While corridors are being studied and ranked in priority for possible LRT development. locat planners should think about the role which LRT could play in reinforcing or remolding general pattems of development, redeveloping blighted areas, supporting stable neighborhoods, and generally conforming with.locatgoats. Issues to be resolved. speciat features to be protected and general impacts to be mitigated should be identified at this stage. This stage would not be too soon to begin a coordinated process of market studies that support and improve the rationate for land use planning efforts. If transit is expected to leverage changes in land use patterns and promote station area development. then it is imperative to understand the general and specific markets. Market studies can also improve the selection of corridors and station sites. These studies should become more specific as transit decisions are made. Phase 2--Station Area Land Use Planning: After rail alignments have been chosen and station locations chosen, land use planners should refine and expand the work done during Phase 1. The 1/4- to 1/2-mile radius area of statio!" influence should be identified and altemative land use plans drawn for these areas with resident and business input These plans might include identifying areas for no change: redevelopment and intensification. mixed uses. and other variations. It is important that the planned level of growth around stations be acceptable to the community. 89 Phase 3--Detailed Station Area Plans: When or if a station moves into the final engineering phase, the local planners should further refine their land use planning. It may be that a station area plan requires no more work, as no significant land use or access changes are desired. However, where redevelopment or intensification is envisioned, a detailed plan should be drawn interactively with the rail authority, Land use planning should sherpen the identification of development opportunities through the use of an economic market analysis. The final plan should select one land use pattern and set of objectives, density and building height ranges based upon the market analysis and evaluation of access, pedestrian and vehicular access plan, parking controls for the neighborhood. mitigation plan for impacts, and an urban design and architectural theme. The market studies will provide the basis for defining financial incentive programs and private support that may be required to achieve the desired objectives. An implementation plan should be adopted which addresses zoning and other official controls, improvements to streets, utilities, and streetscape, development moratoria to protect station areas and rights-of-way, land acquisition for redevelopment, and financial and zoning incentives for developers in exchange for specified performance such as transit-related amenities. Phase 4--Station Area Development Once station construction has begun, Cities should implement their station area development plans. There are three possible approaches to land redevelopment: 1. The City reacts to private sector proposals. 2. The City works cooperatively with private developers to assemble properties and to organize mutually beneficial business arrangements. 3. The City or a not-for-profit development corporation takes the lead in land development. The second two approaches have proven to be more successful in producing new development in established areas along rail lines. In either case, the public sector will have to acquire land for development and provide relocation assistance, negotiate with developers to obtain commitments for station area development, and implement the financial plan described previously. Land Use Planning Guidelines Although station area land use planning must respond to the particular desires and needs of each neighborhood, there are guidelines which may be considered if the community wishes to take advantage of the locale's improved accessibility and protect stable, low-density residential areas. Some of the guidelines followed by other communities with successful LRT station area development are presented below, and others may be created locally. 90 .,. , r ... '" ,. ~ L [ C r ( [ C C [ [ C ] ] I 1 ) } J J J 1 I ! 1 t I I I . 1. Land use planning and transit planning must be coordinated within a metropolitan area for a rail system to be successful and, consequentiy, for station area development to be maximized. That is, rail transit works best in a region (a) with relatively high development density in the broad transit corridors and (b) which makes a conscious attempt to restrict freeway capacity and downtown parking ease. 2. The most intense uses of land should be located closest to the tran.~!t stations, and densities should decrease with distance from the station. 3. Transit usage can be promoted by locating high-density housing along a transit line along with high concentrations of employment and/or colleges or other schools. Cities should establish minimum residential densities and, when commercial or industrial development is considered. minimum employment densities. 4. High-quality, compatible land uses should be encouraged in the vicinity of the LRT stations so that the areas function as a recognizable focus of activities oriented toward human activity. An example of compatible site designs is presented in Figure 5-3 which illustrates a concept called "pedestrian pockets" by Peter Calthorpe. 5. Transit stations offer opportunities for civic and cultural activities and to make a neighborhood statement about local identity, culture, history, or accomplishments. The use of public art and public open space should be incorporated in this regard. 6. In developed communities. blighted or underutilized land parcels near LRT stations should be targeted for redevelopment. 7. If major redevelopment activity is proposed to occur, it should be located near the transit station as opposed to the interior of an established neighborhood. Smaller scale in-fill development wouid be the preferable approach to stable neighborhoods. 91 The Peritstri.an Poc:Jcd would provide for many types of housing needs; elderly clusters are an t!I1S'f stroll to park, seruias, Il7Id trolley line; two story tOfDnhouses with attsu:Jroi garages and pritlau yards provide for families; thrv: story apartments prurNie for sing~ Il7Id cirildless coup~. The commerr:iJU. center of the paitstriJm poc:Jcd would mi:r large bGd: offia jobs TDilh ground flour rdszil12Staurants Il7Id 5mIIller business. The retail TDOIlld faa the light nlilline and all employee TDOIlld be within TDtllking distance of the station. Czrs could drc:u1JJu on !he shopping str~ Il7Id parking stTucturl!S TDOIlld ~ far thost who choose to drif1e. DitJl!TSe opm space would be diWid in the Peril!Stritm Poc:Jcd; priNU yards for the families; cluster open space for /I group of houses; central parb to ~ used lry aU; couTtvards Il7Id /I wmain str~W shopping areiz /lround the station at the emter. SOIU't:c: P<Umiml POCUU, p".,. C4Izhorp., (1987) ~~~ ~J][~~~~~'l'JN- PAI":l(.. ~ . HO'-I'sc. ~~~~~~ I~ II~~~ ~VIa:!>~At-" aFFI{;f...~ 01=;;/q Qd gQ ~E.""AIL.. H,-T P9 P9~"A-n0i'1 P''"'''''''N,(, ~~j,u:;. "'IiJ1I:'~ DFF/t..f,. ~ /AUft::1'f,HCD , , :~, H"'i" 5"f"A"f"'ON vLU-SiPI:: OP'~N ~P"'LL $140l'P'NJ, ~"f"~a.."'f" I -- ( / South Bay Rail Transit Extension Study San Diego ASsociation of Governments \. ESBR\\' Ffa_ env...... Inc. '" Compatible Site Designs - Activity Node Pedestrian Pockets ~ ~I ] 1 ] 1 1 } ] J I J } J 1 1 J J 1 ; . I Urban Design As with land use planning, station area urban design is a matter of local preference, although the following concepts that have been advanced in other cities may be useful. These and other ideas can be used to promote land development near stations, among other objectives. The typical differences between dispersed and clustered uses are shown in Figure 5-4. B~m~~s~m~tH~~t~dMa$m~ 1. Locate taller buildings near stations and lower-scale buildings on the periphery of the station area. 2. Locate major buildings within a reasonable walking distance of transit stations. 3. Create "defensible space" through careful design of buildings, windows. pedestrian ways, landscaping, parking areas, lighting, and other features. 4. Favor human scale buildings, mid-rise high-density versus high-rise high-density except perhaps in downtown locations. 5. Relate buildings closely to streets and sidewalks rather than separating them with large. parking areas and open space. Vehicular Circulation and Parking: 1 . Do not separate transit stops from final destinations by walk distances that are longer than for automobile users. This is especially true for large complexes with a few main entries. This is also true for on-site shuttles. An example of this problem is presented in Figures 5-5 in retail areas and Figure 5-6 for office sites. 2. Redesign, if necessary, local street systems to prevent or minimize transit-related traffic from cutting through neighborhoods. Instead promote the flow of traffic to collector or arterial streets which lead to stations on the periphery of neighborhoods, 3. Unk routes for buses and high-occupancy leading to transit stations. 4. Connect freeways and arterial streets to transit stations, 5. Attempt to minimize conflicts between vehicles and pedestrians or bicyclists. 6. Allow reductions in parking in exchange for desirable predetermined design features. 7. Locate parking areas away from pedestrian routes. 8. Allow penetration of large sites by feeder buses or shuttles. 93 ... Financial tools may include: 1. Land acquisition, clearance, and relocation with discounted land resale. 2. Agreements for private project development with sale to a public entity and leaseback by the private sector. 3. Public bond financing for certain eligible private or public improvements (possibly through the tax increment financing statute). 4. Special assessment districts. 5. Building rehabilitation loans and/or grants. 6. Business development loans. - - - - - Depending upon the market conditions and corresponding degree of development difficulty, the public may desire to structure financial assistance agreements or special assessment districts so as to recapture some of the increases in property value attributable to improved access. Prior to making substantial public investments to leverage private development around transit stations. local officials should attempt to determine whether such subsidies would result in a net increase in local tax revenues or merely shift tax base from one part of the city to the station areas. - """' 5.4.5 Improvements to Public Support Systems The capacity of land development is sometimes limited by sanitary sewer, storm sewer, or water system lines and/or local streets. Thus, upgrading these utilities or streets in coordination with private ~evelopment may be necessary. Utility and street system needs should be evaluated and addressed during Phase 3 of the land use planning process: Detailed Station Area Plans. - 5.4.6 Joint Development Closely related to each of the preceding five means of promoting development around LRT stations is the subject of joint development. This may be defined as the cooperative design and development of private, commercial, or residential building(s) with a physically integrated transit station, possibly including shared financial risks and rewards, to the mutual benefit of the transit system and the real estate venture. - - It must be emphasized once again that strong market conditions along with public.sector policies that influence these conditions are essential in achieving substantial transit- compatible development. Particularly important is the fact that successful join development projects have usually involved heavy rail transit, which has higher patronage and station traffic figures than light rail. - - - 100 - - J I J , I I I r I J I r 1 t I 1 I I L --.,.-.,.,- Benefits of Joint Development The coordination of land development with transit can have many benefits. It can: . Cause land values to appreciate . Increase transit ridership . Provide the public sector with opportunities to capitalize on the property value increases that its transit investment has created ("value capture") . Enhance returns on private sector real estate investment . Broaden the tax base . Strengthen the market for further urban development . Save utility and municipal service costs Public Agency Involvement: The success of transit-induced development depends heavily on the degree of public agency involvement Strong public sector involvement ear1y in the process produces the optimum level of joint development Certainly other factors such as the rate of growth. the type and setting. of the station. and the area's property ownership pattems also exert important influences on station area development However. the traditionally held view that the private sector can maximize the vatue of reat estate with minimum public sector coordination. is from a public sector perspective. subject to considerable debate. Although the private sector perspective. subject to considerable debate. Although the private sector can perform admirably in a strong market, from the point of view of the community, the optimum level and quatity of development near a transit station can be enhanced with public involvement. The public may become involved in station area and other transit-related development through any of three major approaches, Laissez-Faire Market Approach: Under this approach. the community limits its involvement to performing customary regulatory functions. Its objective is to design and construct the most cost-effective system in the most expeditious manner. Comprehensive land use planning, if it occurs at atl, is usually not initiated until after transit system construction is well underway. The private sector determines, within the context of zoning regulations, the location. scate. and composition of station area development. Because public agencies increasingly recognize the shortcoming of the latssez-faire market approach. they tend to support one of the following alternatives: (1) substantiat coordination of private and public development or (2) public-private co-development. 101 Coordinated Development: The coordinated development approach involves establishing a comprehensive land use planning program before any transit construction is begun. This would be the preferred course of action for Otay Ranch and Otay Mesa. Stations are designed to optimize Mure joint development opportunities. Parameters for transit station area development are established in local plans including land use, traffic circulation, building bulk and height, streetscape improvements, utility system improvements, and pedestrian and bicyclist features. Compatible zoning is adopted prior to transit system construction and public financial mechanisms are agreed upon. Project Packaging: Under this type of approach, comprehensive planning is supplemented with specific public value capture objectives and financial leveraging resource are applied form the outset to optimize station area joint development. The land use planning process takes into account both the near-term and long-term development potential of each station area. Rampant land speculation is discouraged. Finally, the private sector is actively solicited to participate in joint development opportunities. Reasons for public agencies to become strongly involved in the station area development process include the following: 1. To gain some control over the pace and scale of urban development. 2. To protect existing residential neighborhoods. 3. To ensure orderty and compatible station area development. 4. To optimize economic returns deriving from the system. 5. To maximize the transportation benefits of the system. 5.5 APPLICATION OF SELECTED TECHNIQUES TO SOUTH BAY LAND USES This section will address the application of selected techniques to the Otay Mesa and Otny Ranch areas. Of specific interest is the potential changes in ridership that may result from changes in: . Land use types and configurations . Intensities of uses around station sites . Site planning to improve transit access to uses A two-step process has been designed to adjust forecast LRT boarding presented in Chapter 4.0 according to these changes in land use. The adjustment process accounts for the fact that land use planning. especially in new or developing areas, can be focused. 102 J ] ] ] ] ] ] J J ] ] J ] ] 1 1 ] J , .' Based on experiences from other areas of the country, the forecasted LRT ridership will be adjusted to account for the land use design focused around villages. The transit stations will be located within the village centers and thus be accessible to a high percentage of the residents and employees in the villages. The current SANDAG models do not account for this type of development because the models are calibrated on existing land use patterns and travel behavior. The effect of the land use plro\nning on Otay Ranch and Otay mesa will be to alter travel behavior and make transit a more accessible part of everyday life. A factoring process is thus needed to reflect these conditions. Similarly, with LRT service to the area, additional trip making can be supported without increasing the capacity of the roadway system to take advantage of investment in transit facilities. Within station influence areas, the amount of residential and commercial development can be adjusted to reflect the added transit capacity, 5.5.1. Otay Ranch Land Use Changes The Joint Planning Group has prepared a land use plan for Otay Ranch which attempts to focuses land uses in villages, A mix of land uses will be included in each village to reduce dependence on the automobile and to encourage use of alternate modes such as transit, walking and bicycling. The JPG examined several levels of development before arriving at the recommended configuration including a mid-range and a maximum level of development. This work was used to guide the adjustment of intensities. Land Use Planning To reflect the JPG land use planning and site design techniques, factors were developed for each station influence area. SANDAG has determined that for LAT in San Diego, a reasonable walking distance to a station is one-half mile. Using this distance. circles were drawn around each station and the areas within each T AZ were summed. Using a proportionate allocation technique, the transit productions and attractions were totaled for each station influence area. These totals were then adjusted to account for the clustering for uses in villages with the following factors: Productions were increased by 35%. Work-based attractions were increased by 20%. Non-work based attractions were increased 10%. These factors are based on empirical data from other areas in the country referenced eartier int his chapter. Implicit in the assumption is the fact that a poticy-oriented plan must be in place to ensure the land planning is implemented with a transit focus. 103 , .' Intensity Increase Because of the extensive amount of effort that has gone into planning of Otay Ranch, changes in intensity were limited. An increment of residential dwelling units was added near each station except the East Center (Orange Station) while the employment intensity was adjusted only in the EUC, Residential units were added to the station influence areas to reflect the difference between the Mid-Range and the Maximum Land Use Plans developed by the JPG in Summer, 1990. These levels were not exceeded because it was felt the JPG had set a reasonable upper limit of units that could be supported considering other factors such as water availability. The land use in the EUC was adjusted to increase the amount of office employment from 1.2 million square feet to 3.0 million square feet of building area. The level of development was set to more closely approximate levels that justify fixed-guideway transit service. Based on national experience, the threshold amount of development for fixed-guideway service to suburban centers is between 5,0 and 10.0 million square feet. (op. cit. Zupan and Pushkarev) Once rations of land use factors and development increases were established, the forecast boarding for LRT A-1 were adjusted by the proportionate amounts. Table 5.3 presents the information. 5.5.2 Otay Mesa Land Use Changes The City of San Diego PD~ for Otay Mesa has established overall planning restrictions and guidelines for development in the area. Development of individuaJ lots or subdivisions will take place independently with the few large master plans grouped in the northwest end of the planning area. The lack of single-developer control, especially in station influence areas wili tend to limit the ability of planning efforts to focus on transit accessibility, A total of five stations could be available with Altemative C or six with the combined Altemative E. This presents a total of almost five to six square miles that would be within station influence areas, over 40 percent of available land in the Otay Mesa Development District. Land Use Planning Land use or site planning for developments on Otay Meas has not employed techniques and patterns used on Otay Ranch to focus development at transit nodes. Designation of an express line with major transit stops in the corridor would allow this type of planning to take piace. Assuming future planning will begin to directly incorporate transit accessibility requirements, the factoring process was applied to each Otay Mesa station influence area. 104 - . . 0 "/!. #- #- "/!. "/!. ~ #- C\I 0 <>> C') ~ ~ W <>> CO It) ~ .....J en< 0 0 0 0 0 ~ 0 :;:).... .... ,... C') ... ~ C\I "'0 0 ... It) ,... ... 0.... ... ... ... Lti 0( "/!. "/!. #- #- "/!. ~ #- It) It) C\I C\I ,... CO C\I C\I ... ... ... .... > ~~ 0 ~ 0 ~ 0 ~ 0 It) ~ CO ... ... ... + ... + CO + + + en W ~~ ~ CJ #- "/!. "/!. #- #- #- z i~ ,... ~ ,... ... C\I ; 0( CO ~ C') C\I :c 0 0 ~ (.) 8 8 ~ 0 ,... CO CO W ~ ~ ... C') + ~ en.... + + + + .... :;:)z OW ~~ en II rJ) 9 u ::E ::E ~ 0 0 M eew coS coS u) f2~ W It) .J 00 0 CD w:c .... :! In(.) z rJ) II rJ) :;:)z :5 ::E ::E ..,< D- C'! C'! oee ... ... 0(> e::! ~a: 0 0 0 0 0 ~ 0 :cO C') .... CO CO It) en ~~ ,... q C\I ~ <>> ee C\i W ... 0 ~~ i: .... 0 0 0 0 0 ~ 0 5 C') C') CO 0 C') <>> ~ It) <>> 0 ... .... C\i ri ri N ~ ... ~ '" .J ... wee ~ 0 0 0 g ~ ~ OW 0 t1I ~ ~ 0 .... :::J 00 C') "!. C') C') a ::lEi: ... ri .., '" '" U .5 ... ... ~ <11 Z E <11 <11 i?:' a: 0 0 '6 E 'US :?- cD 0 Q) > ~ ~ Iii Q) Iii CI~ ... <: OJ CL. ::E c:(,) Q) ~ CL. > ~ .... t> <11:;:) - ~ j '2 0 :::J u.i "'w - 0 en 0_ :;:) 0 .... en , .' .. A significant difference between Otay Mesa and Otay Ranch is the fact that five of the six station areas will not have residential uses nearby. The response of the factoring process to the land use/site planning techniques will be much less at these station areas because of the unbalanced nature of the transit productions (largely generated by dwelling units) versus employment-related trip attractions. Further, since the land uses at most of the stations are primarily employment-related, fewer trips are generated for shopping or other purposes. The exceptions to this are the Caliente station on the western end of the Mesa, which is more similar to the mixed use villages on Otay Ranch and the Otay Border station which has an extremely high externaJ trip count from the international crossing. Intensity Increase Increase in land use intensities were assumed at each station on Otay Mesa. Current development of employment uses is averaging an FAR of 0.37 along Otay Mesa Road which is paraJlel to the LRT aJignment. The PDO aJlows a maximum FAR of 2.0 with building heights to 150 feet. Assuming that building FARs would decline in concentric rings around each station, an assumption was made to increase the overall intensity from 0.37 FAR to 0.50 FAR. Assuming an average of 500 square feet per employee and a net developable area within each station influence area (500 acres) of 65 percent, the number of employees would increase from 10,500 to 14,000, a 35 percent increase. Employment-related attractions were, therefore, increased by this percentage at each station. Since the CaJiente station is similar to the Otay Ranch stations, both dwelling units and employment-related uses were increased. Dwelling units were increased from an average of 8.3 du/acre to 10.0 du/acre over half the station influences area. This would increase the number of dwelling units from about 2,10 to 2,500. Employment related uses were increased by the 35 percent developed for the Other Otay Mesa stations. With these factors, boarding for the Alt. A-1 and Alt. C were adjusted for each station. The results are presented in Table 5.4. 106 . ] ~> . . ] ] ] ] ) ] ] ] 1 ] 1 I I I I 1 I f TABLE 5.4 LRT RIDERSHIP ADJUSTED FOR LAND USE CHANGES OTAY MESA PDO DAILY ADJUSTED RIDERS ADDITIONAL RIDERS DAILY PERCENT STATION (MODEL) LAND USE INTENSITY RIDERS INaEASE Caliente 1,210 310 270 1,790 +48% Cactus 1,090 230 250 1,570 +44% La Media 840 170 130 1,140 +36% Otay Mesa 360 80 90 530 +47% Lone Star 270 60 70 400 +48% Otay Border (1)1,630 350 320 2.300 +41% TOTAL 5,400 1,200 1,130 7,730 +43% ('Work1rip at station only, no extema/ trips adjusted. Source: SAW, Jnc.; 17 January 1991 107 '. , : .. 5.5.3 AdJustments to Cost-Effectiveness The cost-effectiveness calculations will change with the increase in daily ridership. Using the adjusted ridership totals for Alternatives A-1 and C, Table 5,5 was prepared to compare cost-effectiveness calculations. Parameter Daily Boarding Annual Boarding (Millions) New Transit Riders (Millions) Total Annual Costl Annual Boarding Total Annual Costl Annual New River TABLE 5.5 ADJUSTED COST-EFFECTIVENESS COMPARISON Route Alternative SANDAG Adjusted A-1 C A-1 C 16,120 19,240 19,420 +12% 21,270 +11% 5.34 6.37 6.43 +21% 7,04 +11% 3,660 1,930 6,860 +87% 3,960+105% $9.99 $6.14 $8.29 -17% $5.56 -9% $44.09 $61.11 $23.49 -47% $29.86 -51% Source: BAW, Inc.; 22 January 1991 5.6 OBSERVATION AND CONCLUSIONS Based on the preceding analysis of land use changes, the following observations and conclusions are made. 1. Land use and site planning has the potential to increase ridership significantly from levels currently forecast. Experience in order urban areas with fixed-guideway transit lines has shown that proactive land use decisions can substantiaJJy add to the propensity of travelers to chose transit. This is especially true within walking distances of transit stations. The important objective should be to maximize the accessibility of stations to adjacent land uses a,nd increase intensities to take advantage of the transit capacity available. . 2, Land use planning to focus development around station areas in the South Bay has the potential to increase ridership 60 to 70% in mixed-use centers with a high percentage of residential land uses from that forecast by SANDAG. The response to transit accessibility is generally greater for residential use than for employment and other uses in the suburban South Bay area. 108 I I , t I t I I t I; I I ! ! I If.- " 3. Land use and site intensities can be increased to take advantage of the transit investment and available person-capacity from the fixed-guideway line. Indeed, residential densities within walk distance of South Bay transit stations will need to exceed traditional single-family development levels in order to support transit. Overall density within station influence areas should be a minimum of 10 du/acre to generate additional ridership. However, these levels of intensity by themselves do not guarantee sufficient ridership levels to support LAT. 4. Within station influence areas, concentric rings of employment uses should be utilized to result in a net overall Floor Area Ratio above 0.5. The clustering of higher intensity employment within the first 1,000 feet of the station will result in significant increases in transit ridership, resulting in between 20 to 30% more riders to and from jobs. 5. With the designation of an alignment in the South Bay, station influence areas should be designated at all candidate sites. This is especially needed in Otay mesa because the number of individual land owners and developers will result in a lower degree of control than is possible with single master plan developer such as on Otay Ranch. 6. Development patterns to date on Otay mesa are typical of automobile-oriented suburban development. Express transit service, whether bus or LAT has been shown to carry high volumes in the SR-90S corridor. Transit station influence areas should be designated to focus development for future transit service. This will include increases in intensities within walk distances and site planning to promote use of transit, walk and bicycle access modes. 7. Station influence areas should also be designated at Otay Ranch sites once the fixed-guideway alignment is established. Land use planning could be even more aggressively oriented to the transit line with assurances of future implementation. This aggressive and planning approach could utilize techniques such as "pedestrian pockets" or neo-traditional town planning with greater densities focused at the station areas. 8. As the regional agency with responsibility for land use and transportation planning, SANDAG should work with each member agency to establish a program to proactively manage land use planning at station sites. National and foreign experience with land use planning with a transit orientation has resulted in a more pedestrian friendly built-environment and has assisted in meeting other regional objectives such as trip reductions, air quality levels and maximization of infrastructure investments. The key to success is to accomplish this action on a regional basis in concert with other programs to achieve the desired objectives. 109 I I OlDy Ranch CDP / SRP a Part I I EXHIBIT 1) Q Specific public service locations and facilities. Q Conveyance of dedicated parcels into the natural preserve onsite. Mitigation measures proposed by the EIR identify the gUIdelines and performance standards that subsequent development proposals (iSPA Plans) shall meet in order to be considered consistent With the findings of the GDP /SRP ErR 3. Resource Management Plan The Resource Protection Ordinance (RPOJ was adopted by the San Diego County Board of Supervisors in May, 1989. The purpose of the Ordinance is to protect the County's wetlands, fJoodplall1s, steep slopes, sensitive biolOgical habitats. and prehistortc and histortc sites. Article V of the Ordinance provides for e."'{emptions from the Ordinance. Section 9 of Article V e.-q>ressly exempts "any project located Within the appro=ately 22.500 acre property known as Otay Ranch, if determined to be consistent with a comprehensive Resource Management and Protection program which has been adopted by the Board of Supervisors for the Otay Ranch." The Resource Management Plan (RMP) serves as the functional equivalent of the County's adopted RPO for Otay Ranch. The RMP also: Q addresses State and Federal regulatory programs and functions as part of an overall multi-species/habitat and cultural resources management program: Q prOVides the funding. phasing and ownership mechanIsms necessary to effectively protect and manage onslte resources over the long term; Q plans for coordinated. contro!led public use and enjoyment of the Management Preserve to be established as part of the RMP consistent With protection of sensitive resources: and Q by requirtng irrevocable dedications of open space acreage. prOVides ce:rtaJnty that the open space will be preserved in perpetuity. In contrast. wh1le RPO provides a tool for setting aside resource areas. it does not prOVide effectiVe long-term management and implementation tools. address the need for a public access and recreation plan, or address State and Federal Regulatory issues. Without appropr1ate management tools. resource areas set aside as part of the land development process are often subject to inappropr1ate and damag1I].g uses. These undestrable uses include off-road vehicle activity, illegal dumping, shooting actiVities. and Introduction of noxious non-native plant matertals into sensitive resource areas. Such uses degrade and destroy sensitive habitats and other resources. Oc:tDber 5. 1992 Page 51 '~""!J"''''':'?''''_ .. i -0(,':,. ' ._;'~.:;i~~ ~ ~' ~ - SOUTH SAN DIEGO COUNTY LAND USE ANALYSIS Prepared For: THE BALDWIN COMPANY March 1990 . . . . ALFRED GOBAR ASSOCIATES. INC. 201 South B",. Bouoevard. B"'.. Californl. 92621 Tel"""",,e (714) 529-9411 ALFRED GOBAR ASSOCIATES CHAPTER I INTRODUCTION This report describes the results of an evaluation of the interrelationship of the land use allocations for major planned projects being processed in the South San Diego County area. Techniques involved in the preparation of this analysis focus on relationships between employment and population and the distribution of employment by type of job in relationship to the availability of land developable for the types of uses that respond to probable demand for work places, retail and service facilities, etc., versus relationships to residential land uses. They are based on equilibrium concepts of jobs, housing, and land resources. These research methodologies have been derived from more than 25 years of investigation of the interrelationships of population, employment, land use, circulation, etc. Background for some of these techniques is found in the following publications generated early in the Consultants' research into these factors: "A Simple Land Use Model," presented at the 1st Pacific Regional Science Association Meeting, Honolulu, August 1969. "Inefficiencies in the Retail Sector of the American Economy," presented at the Western Regional Science Association Meeting, San Diego, Spring 1970. "A Simple Land Value Forecasting Model,' presented at the Western Economic Association Meeting, Sacramento, 1970. 'PUD's as Alternatives to New Towns,' National Real Estate Review, Summer 1971. "One Aspect of Neo Mercantilism at the Regional Level,' presented at the 46th Annual Conference of the Western Economic Associations, British Columbia, August 1971. 1 ALFRED GaUR ASSOCIATES a I I I . . . a a a t a I I I I I I I "The Obsolete Shopping Center - A Study of Causes and Cures," Journal of Prooertv Manaaement, September/October 1972. "Should You Have a Shopping Center in Your Project?" House & Home, August 1973. "Reserving Too Much Land for Industry Restricts Prospects for Broad-Based Development," Industrial Develooment, May/Jur1 1977. 2 ALFRED GOBAR ASSOCIATES . CHAPTER I I SUMMARY AND CDNCLUSIONS 1. The allocation of industrial land in major projects in the study area exceeds the level compatible with the allocations of residential development by 3,700 acres, even on the basis of the following highly conservative assumptions: extremely low employee density in developed industrial facilities, a high ratio of industrial employment to total employment, the assumption that all employed residents of the South County area work in the South County as distinct from the current commute patterns, and fairly high ratios of employment to population with no military employment represented in the South County population, as well as the assumption that existing employee densities in existing industrial development in the South County remain constant. 2. At an employee density of 15.7 persons per developed industrial acre, the labor force requirement to absorb the amount of industrial land allocated exceeds the available labor force likely to be generated by the population in the South County area by 58,200 jobs, assuming that no employed residents of the South County area commute to jobs elsewhere in San Diego County. The 58,200 additional jobs (calculated on conservative assumptions) required would have an economic multiplier effect creating a total of 232,800 jobs some place in San Diego County and requiring an increase in population of 535,000 persons to generate the appropriate labor force. At 2.8 persons per household, induced 3 . . I . . . I . . . . I I . . . . ~ . ALFRED GOBAR ASSOC'A TES housing demand related to the 3,700-acre overal10cation of industrial land constitutes a requirement for 191,000 dwelling units. Even high estimates of absorption potential for industrial land in the South County study area support the hypothesis that cur,ent allocations of the planned new developments in the study area include too much industrial land and not enough residential land in terms of the appropriate balance between these two types of land use. 3. A more efficient allocation of the 3,700-acre overal1ocation of industrial land use is as follDws: Acres Residential at 3.5 Dwelling Units/Acre Industri a1 Retail and Office 1,855 169 141 2,165 925 610 3,700 Subtotal Roads and Streets Institutional and Parks Total 4. Even assuming that little or no office employment results from economic growth in the South County area, the allocated commercial land in the new developments being planned in the South County is low relative to the probable level of demand for retail and Consumer commercial uses supportable by the population base that is consistent with the number of units and the. amount of residential land allocated within these projects. A comparison of the relationships between actual recent patterns of residential and commercial land absorption in the City of San Diego with the 4 j ALFREP GOBAR ASSOCIATES I- j implications of the study area land use allocations illustrates this potential. land AbsorDtion Shares Residential Commercial Industri al City of San Diego 1980-86 Major Project land Use Allocations for South County Projects 65.3% 14.4% 20.3% 70.8% 4.4% 24.8% Acres of Nonresidential land Use Per Acre of Residential land Use Industri a 1 Commerci a 1 1986 land Uses in South County Major Development Plans Future Total at Buildout Existing & Future City of San Diego Increment 1980-B6 City of San Diego Static 1986 0.203 0.351 0.261 0.310 0.175 O.lll 0.062 0.093 0.220 0.144 5. These comparative analyses indicate that better land use and economic efficiency could be achieved by allocating relatively more land in the planned new communities to residential uses and commercial uses and less to industrial use. The potential consumer population implicit in the dwelling unit allocations for the study area will su~port 950 to 1,200 acres of retail and consumer service land use. The study area allocation is within this range - 1,135 acres. The allocation, however, makes no allowance for pure office space which could require as much as another 390 acres of commercial land - reali'stically about 160 acres. In order not to restrict development of sales tax generating elements, the most generous allocation of nonresidential land should be for commercial rather than industrial land use. 5 I .f I I I I I I I I I I I I I I I I I ALFRED GOBAR ASSOCIA TES 6. Throughout Southern California in recent years there has been a tendency to overallocate nonresidential land uses in the hope of expanding the economic base. The result has been an inversion of the historical relationship between land prices for various uses. Ideally, residential land should be less expensive than commercial sites. Commercial operations require not only a definable amount of land area, they also require locational characteristics that are not crucial to the success of a residential development. In Southern California, land prices for residential development are now in many cases higher than the price of land for commercial development, suggesting a mismatch between supply and demand. The relative undersupply of entitled residential land is in part a function of planning policies. This inverted price relationship has contributed to the high cost of housing in the face of overbuilt commercial real estate sectors, especially offices. This is not a socially desirable set of economic circumstances. 6 ALFRED GOBAR ASSOCIATES CHAPTER III lAND USE RELATIONSHIPS One axiom of micro economic theory is that everything is connected to everything else. Urban land use is a function of the structure of the pertinent urban economy in fairly obvious ways. Consumers who occupy housing units also represent support for retail stores, professional offices and services, and create demand for places to work, as well as for a variety of government services which also involve land use. Somewhat imperfectly, private sector land uses respond to market forces which are a function of the structure of the local economy. There is a clear connection between employment and population. In fact, employment growth is believed by many economists to drive population growth. There is an even closer relationship between nonagricultural wage and salary employment and the number of households in the economy - a relationship which is demonstrated elsewhere in this report. Private sector land uses can be conveniently divided into four categories, several of which respond to somewhat independent economic forces. By far, the bulk of privately developed urban land is used for residential purposes - on the order of 50.0 percent in most areas, The second largest use of urban land is for roads and streets (!22.0 to 25.0 percent). Third most important is public and semi-public uses (parks, schools, cemeteries, golf courses, airports, etc.) which typically represent 15.0 to 18.0 percent of developed urban land. The amount of urban land devoted to retail commercial, office commercial, and 7 ALFRED GO...... ASSOCIATES I I I I I I I I I I I I I I I I . . . industrial commercial uses in a given area is a function of the economic structure of the local economy and the degree to which residential areas are separated from worK areas by commute. The amount of urban land used per capita or per employee is to some degre& related to land cost and, therefore, the need to use it economically or with high-density activities in expensive locations. Relationshio of Emolovment to Pooulation Typically, the ratio of nonagricultural wage and salary employment to population in most "average" urban areas is on the order of 0.40 to 0.44 nonagricultural wage and salary jObs per resident unless the area's population is characterized by an above-average proportion of senior citizens or other atypical factors. These relationships are illustrated for California and the U.S. as a whole in Exhibit III-I. In 1987, the ratio of jobs to population in these two large areas was about 0.42 nonagricultural wage and salary jobs per capita of population. Similar data for each of the two major Southern California concentrations of urban population are shown in Exhibit 111-2, indicating the degree to which inter-metropolitan area commuting distorts the employment-to-population ratio for a given metropolitan area in this megalopolistic entity. Restricted ability to develop housing in Orange County has caused employment to grow faster than population creating an incremental ratio of employment growth to population growth of 0.94 jobs per new person. The large commuter population in the Riverside-San Bernardino metropolitan area sustains a very low ratio of employment to population both on a static basis and at the margin in the Inland Empire. The incremental rate of employment 8 .1 I. ALFAEP GOBAA ASSOCIATES growth relative to population growth In San Diego County has been similar to the comparable figure for the Ventura metropolitan area. Comparisons of employment-to-population ratios for the Northern California metropolitan areas are included in Exhibit 111-3, showing similar but somewhat higher ratios of nonagricultural wage and salary employment to population. This difference probably reflects some long- distance commuters working in the Bay Area who live in areas as far away as Modesto - a separate metropolitan area that is not included in the Bay Area totals. Another factor causing the ratio of civilian employment to population in the Bay Area to be higher than in Southern California is the military population in San Diego County. Adding an estimated 120,000 military personnel to the 1988 employment figures for Southern California raises the overall Southern California ratio to 0.441 jobs per capita. Except for retirement areas, economic well being appears to require the output of workers at a ratio of about 0.40 to 0.45 jobs per capita. At first blush, the statistics for San Diego County do not support this hypothesis. The ratio in 1988 was 0.385 civilian non- militarv nonagricultural wage and salary jobs per capita of population. A detailed 1988 employment profile of San Diego County vis-a-vis the U.S. as a whole is shown in Exhibit 111-4, suggesting that San Diego County's employment base is biased towards construction; trade; finance, insurance, and real estate; services; and government at the expense of jobs in manufacturing and transportation and public utilities. These data deal with nonagricultural wage and salary employment. Introducing the assumption that the military job base in San Diego County is 9 ALFRED GOBAR ASSOCIA TES I I I I I I I I I I I I I I I I I I . approximately 120,000 persons, the comparative ratios for 1985 would be (as shown in Exhibit 111-5) illustrative of a good deal more balance than the ratios in Exhibit 111-4 that exclude consumer support represented by military jobs. Military jobs are in many respects antTogous to manufacturing Jobs in that the source of funds for payroll is drawn from outside the local economy; i.e., an economic base element. As shown in Exhibit 111-2, the ratio of civilian nonagricultural wage and salary employment to population in Southern California's urban areas in 1988 was 0.433 jobs per capita. If San Diego County's military employment is added to the total, the ratio for Southern California as a whole is 0.441 Jobs per capita population. Dependency ratios for military jobs are less than for civilian nonagricultural jobs, suggesting a working ratio of 0.435 civilian nonagricultural jobs per capita. Similar comparisons for 1988 (based on the assumption that the military constitutes 120,000 jobs in San Diego County) are provided below: Percent EmDloYmt:!nt Percent !l...L. Mining 800 0.1 0.7 Construction 57,300 5.6 5.0 Manufacturing 127,300 12.3 18.4 Military 120,000 11.6 Transportation, Conanunication, and Util ities 35,200 3.4 5.3 Trade 222,000 21.5 23.9 Finance, Insurance and Real Estate 63,800 6.2 6.3 Services 243,100 23.5 24.0 Government 163.200 15.8 16.4 1,032,700 100.0 100.0 10 ALFRED GOBAR ASSOCIA TES These comparisons suggest that land use patterns reflecting the structure of the local economy in San Diego County should be reasonably similar to national averages except for the military component and the correspondingly lower proportion of manufacturing jobs in San Diego County. Economic Structure and Land Use The City of San Diego, largely under the impetus of George Orman, has for about 30 years maintained a fairly detailed land use inventory expressed in terms of net acres of land devoted to general land use categories. Patterns of land use in the City are not a microcosm of the Countywide patterns because of the City of San Diego's role as a central place. They may be useful, however, in establishing perspective. The City's land use code assigns a separate code to roads and streets and also incorporates land uses that do not respond to market forces - military installations, public and semi-public land uses, vacant land, agricultural land, etc. The land uses of most specific interest in negotiations between the public and private sector are those that are market-driven residential, commercial, and industrial land uses. A comparison of change in the reported inventory of land in use for these purposes in the City of San Diego between 1980 and 1986 shows the following relationships: 11 ALFRED DDBAR ASSOCIATES I I I I I I I I I I I I I I I I I I a City of San Dieoo Land Use Inventorv Net Acres Residential Commercial Industrial Percent of l2aQ ill.2 Chance ChanCle 39,310 43,914 4,604 65.3 5,320 '6,339 1,019 14.4 6.261 7.690 1.429 ..1Q..1 50,891 57,943 7,052 100.0 852,500 955,399 102,899 21. 69 21. 76 22.35 160.24 150.72 100.98 136.16 124.24 72.01 16.75 16.49 14.59 Population Persons Per Acre: Residential Corrrnercial Industrial A 11 Uses Residential land represented 65.3 percent of the increase in land use over this period, corrrnercial land 14.4 percent, and industrial land 20.3 percent. Although useful as a benchmark, data for the City of San Diego are not directly transferable to potential land use patterns in the South County study area because of differences in the economic structure in the urban core of the metropolitan area and the suburban parts of the metropolitan area. As shown in Exhibit 111-6, the City of San Diego accounted for 44.2 percent of the value of retail development authorized by permit in the County in 1980 through 1985. The City represented 85.8 percent of the value of office space construction authorized by permit in the County over this same interval. as illustrated in Exhibit 111-7. About 51.6 percent of the building permit value of industrial development in the County was in the City of San Diego over this interval, as shown in Exhibit 111-8. During this interval, population growth in the City of San Diego was about 46.8 percent of total population growth in the 12 ALFRED GOBAR ASSOCIATES . County. The accuracy of this estimate is contingent on the definitions of population level in the City of San Diego at the two end point years. The California State Office of Planning uses somewhat different population figures for the City than those found in the City of San Diego's Pooulation and Land Use Bulletins, probably related to the date. Reta 11 Land Use Alfred Gobar Associates, Inc., maintains an ongoing analysis of land use patterns relative to economic growth for all major metropolitan areas in Southern California. Growth in retail employment in San Diego County, shown in Exhibit 111-10, is converted to estimates of demand potential for retail floor space to be compared with estimates of development based on an analysis of building permit valuations, as shown in Exhibit III-II. The employment components used as a proxy for floor space demand are summarized in Exhibit 111-12. From 1980 to 1986, estimated development of new retail floor space in San Diego County was 20.7 million square feet. At a lot coverage of 25.0 percent (10,890 square feet per developed acre), this represents development of approximately 1,900 acres of new retail facilities in San Diego County between 1980 and 1986. If the City of San Diego accounted for 44.0 percent of this total, implicit level of development in the City was 836 acres of new retail floor space. Offi ce Land Use Similar excerpts from the Consultants' model of San Diego County's office sector are included in Exhibits 111-13, 111-14, and III-IS. Over the period from 1980 to 1986, an estimated 23.6 million square feet of office space was developed in San Diego County. (Note that the vacancy 13 ALFRED G08AA ASSOCIATES I I I I I I I I I I I I I I I I I a a simulations in Exhibit 111-14 do not include an adjustment for the loss of some office tenants to upgraded industrial buildings.) The figures above indicate that about 86.0 percent of the permit value of office development in San Diego County over the period from 1980 to 1986 was in the City of San Diego - an unadjusted estimate of 22.6 million square feet of office development in the City. Office uses are highly centralized in most urban areas as is the case in San Diego County. Because of the nature of office construction in the City of San Diego - high-rise buildings with parking structures, etc. - the dollar value of permits used to calculate the share of development probably overstates the amount of square footage of office space developed in the City as distinct from the suburban areas where development of lower cost suburban office space is more feasible. Discounting the 22.6 million square foot estimate to reflect an average cost of development about 30.0 percent higher in the City than is typical of the average for the County as a whole suggests the effective development level in the City was 17.4 million square feet. At an FAR of 2.0, implicit land absorption related to these assumptions is 8,700,000 square feet of surface area, or 200 acres. Adding the estimated level of land absDrption for office space to the 836 acres of estimated development of retail sites produces an estimate of absorption of commercial land in the City of San Diego between 1980 and 1986 of 1,036 acres. Materials from the City of San Diego Pooulation and land Use Bulletins define absorption of 1,019 acres for commercial use over the same interval - a difference of 1.6 percent between the top-down analysis and empirical data. 14 ALFRED GOBAR ASSOCIATES Industrial Land Use Exhibits 111-16, 111-17, and 111-18 are comparable data from the Consultants' model of industrial land use in San Diego County, indicating development of approximately 1,674 acres of industrial facilities Countywide between 1980 and 1986. If 52.0 percent of this development was in the City, the implicit development level in the City of San Diego was 870 acres over the six-year interval. The Population and Land Use Bulletins indicate 1,429 more acres of land were classified as industrial use in 1986 than was true in 1980. Assuming that reclassification of existing land use is not a factor in the difference between the reported change and the calculated change in industrial land use in the City from 1980 to 1986, the implicit employment density at the margin (change in industrial jobs relative to change in land use) was 15.7 industrial jobs per new acre of industrial land use. A substantial body of research, however, supports the argument that the appropriate land use coefficient for industrial land use in San Diego County is !25 industrial jobs per acre, or !o80 square feet of floor area per acre at an average of 17,000 square feet of floor area per acre lot coverage. Both coefficients were employed in the comparative analyses in Chapter IV. The relative shares of increase in land use in the City of San Diego over the six-year interval studied as noted above was composed of the following proportions: Residential Conmerci a 1 Industri a 1 65.31- 14.4% 20.3% 100.~ 15 I ALFRED GOBAR ASSOCIATES I I Assuming the industrial absorption figure is correct and does not represent a reclassification of land use from other classifications prior to 1980 with no change in actual use, the equivalent ratio expressed in acres is as follows: Industrial Land 0.31 Acres Per Acre of ResIdential Land Commercial Land 0.22 Acres Per Acre of Residential Land 16 I I I I I I I I I I I I I I I I I In suburban areas, the ratios' of nonresidential land use to residential land use are likely to be less because of the central place nature of office jobs and industrial jobs and the lower density of population in residential areas in the suburbs as compared with the City of San Diego. The ratios of 0.31 acres of industrial land per acre of residential land and 0.22 acres of commercial land per acre of residential land, therefore, probably are substantially higher than market forces will dictate in a suburban location such as the South County study area described in Chapter IV. The models used to estimate demand for developed industrial real estate are driven by employment patterns. Although some employees of construction, manufacturing, and wholesale firms are housed in offices, the projection system assumes all jObs in these employment categories relate to industrial space. Mining employment is related primarily to extractive land uses. With the exception of service yards, generating plants, airports, treatment plants, and other relatively fixed facilities that are not affected by employment change, much transportation, utility, and communication employment is in the field or in offices; i.e., spread over many land use categories. From 1980 to I I I I J I I I I II I I J I I I I I I ALFRED G08AR ASSOCIATES 1989, this category of employment grew by an average of 850 Jobs a year or 2.7 percent of total employment change in the County. Similarly, all finance, insurance, and real estate jobs and part or all of the employment in several service sector sUbcategories of employment - business services, legal, medical, architects, engineers, accountants, charities, etc. - are assumed to represent potential occupancy of office bUildings. Some service sector jobs _ hotels, auto repair, other repair, hospitals, museums, travel agencies, personal care, religious, etc. - relate to other land uses _ retail sites (accommodated in the retail land uses) and public and semi-public uses which are not addressed precisely in the planning-based land use allocations provided for the study area. Cross transfers of demand from one category of demand to a noncongruent land use are treated on a specific case-by-case basis in the applications of these models to specific sites for market feasibi.1 ity studies. 17 FIGURE 3. SIMPLE CORRELATION OF DEMAND AND SUPPLY VARIABLES TO RESIDENTIAL LAND PRICES 197~ 1980 Lot lnae.se Indepenacnt YlMbIcs PI1<< In Lot Pn<< Demond 1 1980 Pocolanon .162 -.064 2. Increase In Pooulatlon, 1975-80 084 .371 3. 1979 Pe7'..(aPlta JncOl'T'le .331 .365 4. Increase In Per-(aPlta Income, 1975-79 043 .378 5 Emcl~ Growth ~te. 1975-80 .390 490 Supply 6. Pt'tyslcal Restnct10ns .394 239 7 R.egulatory RestrIctionS 698 - 651 R_ed 8. 1975 LOI Pnet 7S8 059 9 1975 Raw I81d Pnet .590 334 10..1980 ~aan HOUSIng PrIce ,705 .582 So.Icr:. f...IrbIrI una II'!stItIa. housing markets. The cost of raw land. land devel- opment, construction, and rehabilitation are aU af- fected by local land use and building regulations, environmental policies. public works standards, and the capacity of roads and utilities. Carrying costs and risks are affected by delay and uncertainty in the permit approval process. Importantly, any in. crease in the cost of new housing is eventually felt in existing housing prices as households shop for better deals and bid prices up.. Of the major cost components of new housing- land. labor. materials. and capital-land is most subject to the policies of local government. Urban planners have sometimes argued that land speculators, not land use controls. should be blamed if land prices shoot up. Such an argument makes the point that speculators speculate when they perceive a scarcity of land supply. Where the production of improved sites for housing is not keeping up with demand. speculative buying of available sites is inevitable. In an urban area with reasonably good growth. if the supply of developable land becomes tight In geographic sectors where demand is greatest. devel- opers will have to bid higher to purchase land. re- sulting in new residential development being priced Up. aimed toward the higher-income brackets. In those neighborhoods where there is little or no per- ceived housing demand from higher. income groups, the tendency will be to increase density and EXHIBIT "F" I develop housing to sell at the same price leveJ as previousJy. If land suppJy and density restrictions are tight enough in the geographic sectors where people most want to live. the market mav shift to districts that traditionaUy have low demand. These districts may then experience an increase in development ac- tivity-provided developable Jand is available- aimed at the middle. and low-middle homebuying market. If this occurs. the average house price in the urban area will increase-especiaUy if the quaJi- ty of the project is held constant. The amount of in. crease caused by rising land prices will depend on the amount and distribution of demand for housing as well as the amount of developable land in various geographic markets. Before higher.priced new units can be sold in any volume, prices of existing houses will be pushed up somewhat because of new land suppJy con. straints while homebuyers shop among comparabJe units in the new and existing markets. Conse. quently, the effect of local policies on the market should hold greater sway in making local govern. ment decisions. FIGURE 4 EFFECTS OF GOVERNMENTAL RESTRICTIONS ON LAND PRICES - ... ... u <: ... ... Co VI ... ~ '0 o - c ... c::: ... Q .. =' '$ I I I I I 0, 0, -=> c ~ Quantity of Land Available for Development LEGEnD " \ .-4-'-___ // i... /' '.... .W.c.nt "nid'ntj.IZonln~ _V.UntlnduStrl.IZoninq '/c'W.c.nt: t,otPr."ntlYIOMd -- i I ,~---- ..... , ...., ~, , '-.=:". , " Vacanr lana In Nevv Orleans. LOCAL LAND MANAGEMENT ods to resoJve issues surrounding land supply. To. gether. Jocal governments, homebuilders. and con. sumers have the knowledge, the capacity, and the understanding to establish a workable system to en- sure that a plentiful suppJy of developable land ex- ists.IO To provide adequate land for residential develop- ment. communities may first take a senes oi steps aimed at managing their land supplies better.8 These steps include develoPing an improved data base and creating anaJytical tools to monitor land pnces. measuring the availability of land. assessing the costs oi development. and determining the ex- tent and nature of future land demand.9 After this. communities can establish programs and imple. ment actions to meet land demand and Increase land supplies. LOCAL ACTIONS FOR INCREASING LAND SUPPLY Jt is crucial that the public and private sectors work together to develop a means for measunng land supply and demand and for establishing meth. Five types oi action to increase land supply are discussed here: · Overcoming inirastructure iundlng problems. with emphasis on alternative local revenue Sources. 4 · Overcoming environmental and topographic con- straints. with emphasIs on combining residential development wIth agricultural and wetlands pro- tection. · Increasing allowable densities, which In effect places more unots on available land and thus in- creases the land supply. -X- , divisIOn is omItted because no successful examples were found. Also. little is said about governmentai land backing. except in the context of tax-delin- quent and surplus public land. In general. tech- noques used to write down the cost of land through government subsidies las In the old federal urban renewal program! are not treated in th.s diScussion. Another common approach not discussed here in- volves the use of neighborhood improvement pro. grams to upgrade the marketability of sites in dete- riorating areas: most cities are engaged in a varlet). of neighborhood improvement activities. · Developing tax-delinquent and surplus public land. · Using tax and eminent domain powers to influ- ence landowner deCIsions. AJthough these live subjects Include most of the methods by whICh local governments can influence land supply, theY do not cover all possibilities. For example. the use of government assistance In over- coming problems caused by inappropriate land sub- To the extent possible. case examples are used to illustrate the various types of actions covered in this report. Appendix A contains names and addresses 01 people in each communoty who can provide further information. The endnotes provide references to publications that may be helpful. Outlined In rl1e pooro IS the Norm Central Austin Growrh Corridor MumClDdI Utility D/stnct No 7 a 695-acre OeveloDmenr bemq manageci by Nasn PruIJIDSlCODUS Ine Nmereen monms Into aevelooment, 50 orojects dre uno;;, construction -