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HomeMy WebLinkAboutPC Reso 10-23 Jordan Ranch CEQA Addendum RESOLUTION NO. 10 - 23 A RESOLUTION OF THE PLANNING COMMISSION OF THE CITY OF DUBLIN RECOMMENDING THAT THE CITY COUNCIL CONSIDER A CEQA ADDENDUM TO THE EASTERN DUBLIN ENVIRONMENTAL IMPACT REPORT, AND THE 2002 EDPO AND 2005 FALLON VIL~AGE SUPPLEMENTAL ENVIRONMENTAL IMPACT REPORTS AND APPROVE ITS FINDINGS THAT NO FURTHER ENVIRONMENTAL REVIEW IS REQUIRED FOR THE JORDAN RANCH PROJECT PA 09-011 WHEREAS, the Applicant proposes to develop a 780 unit residential project on an approximately 189.7 acre site. The Project consists of single and multi-family units, a 6.6 acre residential/retail mixed use site, and a range of public parks, public and semi-public uses, open spaces and roadways. The related applications include a PD-Planned Development Stage 2 Development Plan, Site Development Review, Vesting Tentative Map and Development Agreement. The Project reduces a previous approval for 1,064 units by 284 units. The above activities and applications are further described in applications on file with the City and are collectively referred to as the "Project"; and WHEREAS, the Project site is located east of Fallon Road and Positano Parkway, south of the Positano residential community under construction, west of the Croak property and north of the Chen property; and WHEREAS, the Project is in the General Plan Eastern Extended Planning Area and the Eastern Dublin Specific Plan area, for which the City Council certified a Program Environmental Impact Report by Resolution 51-93 ("Eastern Dublin EIR" or "EDEIR", SCH 91103064) on May 10, 1993 (incorporated herein by reference). The Eastern Dublin EIR identified significant impacts from development of the Eastern Dublin area, some of which could not be mitigated to less than significant. Upon approval of the Eastern Dublin General Plan Amendment and Specific Plan, the City Council adopted mitigations, a mitigation monitoring program and a Statement of Overriding Considerations (Resolution 53-93, incorporated herein by reference); and WHEREAS, the City prepared a Supplemental EIR in 2002 for the 1,120-acre East Dublin Property Owners (EDPO) project in Eastern Dublin, including the Jordan Ranch property ("2002 SEIR", SCH # 2001052114). The 2002 SEIR assessed the impacts of annexing these properties to the City of Dublin and the Dublin San Ramon Services District, detaching the properties from the Livermore Area Parks and Recreation District, prezoning the properties to the PD-Planned Development district and adopting a related Stage 1 Development Plan for future development of residential, retail, office, open space and other uses. The SEIR was certified on April 2, 2002 by City Council Resolution No. 40-02; and WHEREAS, in 2005 the City prepared a second Supplemental EIR to analyze the Fallon Village project, consisting of a General Plan and Eastern Dublin Specific Plan amendment, and a PD-rezoning and revised Stage 1 Development Plan for the same properties as the EDPO project, including the Jordan Ranch site. The second SEIR ("2005 SEIR", SCH #2005062010) was certified on December 5, 2005 by City Council Resolution No. 222-05. The 2005 SEIR Page 1 of 3 ana(yzed the revised Stage 1 Development Plan, including a maximum of 1,064 units on the Jordan Ranch site, at a programmatic level anticipating that the analysis would be used for approval of future development projects unless project or other changes were to require additional environmental review under CEQA sec#ion 21166 and related CEQA Guidelines sections 15162 and 15163; and WHEREAS, the City prepared an Initial Study to determine if the Project required additional environmental review pursuant to CEQA Guidelines section 15162. Based on the Initial Study, the City prepared an Addendum dated May 11, 2010 describing the Project, including the reduced number of units from the number assumed in the 2005 SEIR, and finding that the impacts of the proposed Project have been adequately addressed in the Eastern Dublin EIR, 2002 SEIR and 2005 SEIR. The Addendum and related Initial Study are attached as Exhibits A and B and are incorporated herein by reference; and WHEREAS, the Eastern Dublin EIR and the two SEIRs identified significant unavoidable impacts from development of the Eastern Dublin area, some of which would apply to the Project; therefore, approval of the Project must be supported by a Statement of Overriding Considerations; and WHEREAS, a Planning Commission staff report dated May 11, 2010 and incorporated herein by reference analyzed the Project and recommended adoption of the CEQA Addendum and approval of the applications; and WHEREAS, the Planning Commission held a properly noticed public hearing on the Project on May 11, 2010; and WHEREAS, the Planning Commission considered the Addendum as well as the Eastern Dublin EIR, 2002 SEIR and 2005 SEIR before making recommendations or taking action on the Project applications. The Planning Commission further considered all reports, recommendations and testimony before making any recommendation or taking any action; and WHEREAS, all of the above referenced resolutions are incorporated by reference and are available for public review during normal business hours at the Community Development Department, Dublin City Hall, 100 Civic Plaza, Dublin, CA. NOW, THEREFORE BE IT RESOLVED that the foregoing recitals are true and correct and made a part of this resolution. BE IT FURTHER RESOLVED that the Planning Commission recommends that the City Council make the following findings to support the determination that no further environmental review is required under CEQA for the proposed Project. These findings are based on information contained in the Addendum and related Initial Study, the Eastern Dublin EIR, the 2002 SEIR and 2005 SEIR, the Planning Commission staff report, and all other information contained in the record before the Planning Commission. These findings constitute a summary of the information contained in the entire record. The detailed facts to support the findings are set forth in the Addendum and related Initial Study, Eastern Dublin EIR, 2002 SEIR, 2005 SEIR and elsewhere in the record. Other facts and information in the record that support each finding that are not included below are incorporated herein by reference: 2 of 3 1. The proposed Project does not constitute substantial changes to the previously approved Eastern Dublin, EDPO and Fallon Village projects that will require major revisions to the EIRs due to new significant environmental effects or a substantial increase in severity of previously identified significant effects. Based on the Initial Study, all potentially significant effects of the proposed Project are the same or less than the impacts for the projects which were addressed in the previous EIRs. The proposed Project will not result in substantially more severe significant impacts than those identified in the prior EIRs. All previously adopted mitigation measures continue to apply to the proposed Project and project site as applicable. 2. The Initial Study did not identify any new significant impacts of the proposed Project that were not analyzed in the Eastern Dublin EIR, 2002 SEIR or 2005 SEIR. 3. The City is not aware of any new information of substantial importance or substantial changes in circumstances that would result in new or substantially more severe impacts or meet any other standards in CEQA section 21166 and related CEQA Guidelines sections 15162 and 15163. BE IT FURTHER RESOLVED that the Planning Commission recommends the following to the City CounciL• 1. No further environmental review under CEQA is required for the proposed Project because there is no substantial evidence in the record as a whole that any of the standards under CEQA section 21166 or CEQA Guidelines sections 15162 and 15163 are met. 2. The City has properly prepared an Addendum and related Initial Study under CEQA Guidelines section 15164 to explain its decision not to prepare a subsequent or supplemental EIR or conduct further environmental review for the proposed Project. 3. The City Council consider the CEQA Addendum and related Initial Study attached as Exhibits A and B, and approve its findings that no further environmental review is required pursuant to CEQA Guidelines sections 15162 and 15163 for the Jordan Ranch Project. BE IT FURTHER RESOLVED that the Planning Commission recommends the City Council adopt any further required CEQA findings. PASSED, APPROVED AND ADOPTED this 11 t" day of May, 2010 by the following vote: AYES: King, Brown, Wehrenberg, Schaub NOES: ABSENT: Swalwell , ABSTAIN: PI nning mm~Ission C air AT Plannin nager G:IPA#120091PA 09-011 Jordan RanchlPC Meeting 5.11.101PC RESO CEQA FINAL 5.11.10.DOC 3 of 3 CEQA ADDENDUM FOR THE JORDAN RANCH PROJECT PA 09-011 May 11, 2010 The Jordan Ranch has been the subject of several prior approvals and related Environmental Impact Reports ("EIRs"). This Addendum evaluates whether further environmental review is required for minor changes to the project, primarily the elimination of 284 dwelling units. No change is proposed to the General Plan or Eastern Dublin Specific Plan and the proposed project is consistent with the PD-Planned Development zoning and related Stage 1 Development Plan approved in 2005. Through this Addendum and the attached Initial Study, the City has determined that the prior EIRs adequately identify the impacts and mitigation measures for the proposed project and that no further environmental review is required under CEQA section 21166 and CEQA Guidelines section 15162 and 15163. Prior Environmental Review On May 10, 1993, the Dublin City Council adopted Resolution No. 51-93, certifying an Environmental Impact Report for the Eastern Dublin General Plan Amendment and Specific Plan ("Eastern Dublin EIR", SCH #91103064). The certified EIR consisted of a Draft EIR and Responses to Comments bound volumes, as well as an Addendum dated May 4, 1993, assessing a reduced development project alternative. The City Council adopted Resolution No. 53-93 approving a General Plan Amendment and Specific Plan for the reduced area alternative on May 10, 1993. On August 22, 1994, the City Council adopted a second Addendum updating wastewater disposal plans for Eastern Dublin. The Eastern Dublin EIR evaluated the potential environmental effects of urbanizing Eastern Dublin over a 20 to 30 year period. Since certification of the EIR, many implementing projects have been proposed, relying to various degrees on the certified EIR. A Supplemental EIR was prepared in 2002 for the 1,120-acre East Dublin Property Owners (EDPO) portion of the Eastern Dublin planning area, including the Jordan Ranch property ("2002 SEIR", SCH # 2001052114). The 2002 SEIR assessed the impacts of annexing these properties to the City of Dublin and the Dublin San Ramon Services District (DSRSD), detaching the properties from the Livermore Area Parks and Recreation District, prezoning the properties to the PD-Planned Development district and adopting a related Stage 1 Development Plan for future development of residential, retail, office, open space and other uses. The SEIR was certified on April 2, 2002 by City Council Resolution No. 40-02. A second Supplemental EIR was prepared in 2005 to analyze the Fallon Village project, consisting of a General Plan and Eastern Dublin Specific Plan amendment, and a PD-rezoning and revised Stage 1 Development Plan for the same properties as the EDPO project, including the Jordan Ranch site. The Fallon Village project proposed to modify land use patterns primarily with respect to biological resource areas. The Fallon Village project also included a PD-Stage 2 Development Plan for proposed subdivisions on approximately 486 acres in the EXHIBIT A TO ATTACHMENT 4 northerly portion of the Fallon Village area known as Positano. The second SEIR ("2005 SEIR", SCH #2005062010) was certified on December 5, 2005 by City Council Resolution No. 222-05. The 2005 SEIR analyzed the revised Stage 1 Development Plan properties, including the Jordan Ranch site, at a programmatic level anticipating that the analysis would be used for approval of future development projects unless project or other changes were to require additional environmental review under CEQA section 21166 and related CEQA Guidelines sections 15162 and 15163. The 2005 SEIR analyzed the Stage 2 Development Plan for Positano at a project level consistent with the proposed subdivision level of detail This Addendum has been prepared pursuant to CEQA Guidelines Section 15164 for the Jordan Ranch portion of the EDPO and Fallon Village areas, as described below. Project Description In 2005, the City approved amendments to the General Plan and Eastern Dublin Specific Plan as well as PD-Planned Development zoning and a related Stage 1 Development Plan. The approvals anticipated a primarily residential development with mixed residential densities across the site and an approximately 6 acre residential-retail mixed use site. The maximum number of dwelling units was established at 1,064. The current application includes requests for approval of a PD-Planned Development rezoning and associated Stage 2 Development Plan, Site Development Review (SDR), Vesting Tentative Tract Map and a Development Agreement. The Project site is the 189.7-acre portion of Fallon Village known as the Jordan Ranch. The site is bounded on the west by Fallon Road and Positano Parkway, on the north by the Positano residential community being developed by Braddock & Logan, on the on the east by property owned by the Croak family and on the south by property owned by the Chen family. The proposed development implements the 2005 approvals and remains primarily residential; however, the number of dwelling units is reduced by 284, for a total of 780 single and multi- family dwelling units. A portion of these units would be located on a 6.6 acre mixed-use site with 12,000 sq. ft. of retail uses. The project also includes a range of public parks, public and semi-public uses, open spaces and roadways. The development would be oriented around a major drainage swale that runs northeast to southwest across the site. The proposed project is described in more detail in the attached Initial Study. Prior CEQA Analyses and Determinations As summarized above and discussed in more detail in the attached Initial Study, the Jordan Ranch property has been planned for urbanization since the Eastern Dublin approvals in 1993 and has been the subject of three previously certified EIRs. The Eastern Dublin EIR identified numerous environmental impacts, and numerous mitigations were adopted upon approval of the Eastern Dublin General Plan Amendment and Specific Plan. For identified impacts that could not be mitigated to insignificance, the City Council adopted a Statement of Overriding Considerations. Similarly, the 2002 SEIR and 2005 SEIR identified supplemental impacts and mitigation measures, as well as additional significant unavoidable impacts for which statements of overriding considerations were adopted. All previously adopted Page 2 mitigation measures for development of Eastern Dublin identified in the Eastern Dublin EIR, the 2002 SEIR and the 2005 SEIR that are applicable to the Project and Project site continue to apply to the currently proposed Project as further discussed in the attached Initial Study. Current CEQA Analysis and Determination that an Addendum is Appropriate for this Project. Updated Initial Study. The City of Dublin has determined that an Addendum is the appropriate CEQA review for the proposed Project. Prior to making this determination, the City reviewed the Eastern Dublin EIR and previous Supplemental EIRs to determine if any further environmental review was required for the actions proposed for this Project site. The City prepared an updated Initial Study for the Jordan Ranch proposed Project dated May 11, 2010, attached and incorporated herein by reference. Through this Initial Study, the City has determined that no subsequent EIR, or Negative Declaration is required for this Project. No Subsequent Review is Required per CEQA Guidelines Section 15162. CEQA Guidelines Section 15162 identifies the conditions requiring subsequent environmental review. After a review of these conditions, the City has determined that no subsequent EIR or negative declaration is required for this Project. This is based on the following analysis: a) Are there substantial changes to the Project involving new or more severe significant impacts? There are no substantial changes to the Project analyzed in the Eastern Dublin EIR, as supplemented by the 2002 SEIR and the 2005 SEIR. The Project maintains the general land use patterns for the site as established in the'2005 PD Stage 1 Development Plan and proposes a decrease of approximately 284 dwellings assumed on the site in the prior EIRs. As demonstrated in the Initial Study, the decreased number of dwellings is not a substantial change, will not result in additional or substantially more severe significant impacts, and no additional or different mitigation measures are required. b) Are there substantial changes in the conditions in which the Project is undertaken involving new or more severe significant impacts? There are no substantial changes in the conditions assumed in the Eastern Dublin EIR, the 2002 SEIR or the 2005 SEIR. This is documented in the attached Initial Study prepared for this Project dated May 11, 2010. c) Is there new information of substantial importance, which was not known and could not have been known at the time of the previous EIR that shows the Project will have a significant effect not addressed in the previous EIR; or previous effects are more severe; or, previously infeasible mitigation measures are now feasible but the applicant declined to adopt them; or mitigation measures considerably different from those in the previous EIR would substantially reduce significant effects but the applicant declines to adopt them? As documented in the attached Initial Study, there is no new information showing a new or more severe significant effect beyond those identified in the prior EIRs. Similarly, the Initial Study documents that no new or different mitigation measures are required for the Project. All previously adopted mitigations continue to apply to the Project. The Page 3 previously certified EIRs adequately describe the impacts and mitigations associated with the proposed development of Jordan Ranch. d) If no subsequent EIR-level review is required, should a subsequent negative declaration be prepared? No subsequent negative declaration or mitigated negative declaration is required because there are no impacts, significant or otherwise, of the Project beyond those identified in the Eastern Dublin EIR and previous SEIRs, as documented in the attached Initial Study. Conclusion. This Addendum is adopted pursuant to CEQA Guidelines Section 15164 based on the attached Initial Study dated May 11, 2010. The Addendum and Initial Study review the proposed Planned Development rezoning and related Stage 2 Development Plan, SDR, Vesting Tentative Subdivision Map and Development Agreement as discussed above. Through the adoption of this Addendum and related Initial Study, the City determines that the above minor changes in land uses do not require a subsequent EIR or negative declaration under CEQA section 21166 or CEQA Guidelines Sections 15162 and 15163. The City f n-tber determines that the Eastern Dublin EIR, the 2002 SEIR and the 2005 SEIR adequately address the potential environmental impacts of the proposed Jordan Ranch Project as documented in the attached Initial Study. As provided in Section 15164 of the Guidelines, the Addendum need not be circulated for public review, but shall be considered with the prior environmental documents before making a decision on this project. The Initial Study, Eastern Dublin EIR, the 2002 SEIR, the 2005 SEIR and all resolutions cited above are incorporated herein by reference and are available for public review during normal business hours in the Community Development Department, Dublin City Hall, 100 Civic Plaza, Dublin CA. Page 4 Initial Study Project: Jordan Ranch Property File # PA 09-011 Lead Agency: City of Dublin April 2010 EXHIBIT B TO ATTACHMENT 4 Table of Contents Introduction ........................................................... ...................................................2 Prior Environmental Impact Reports ................... ...................................................2 Applicant/ Contact Person .................................... ...................................................5 Project Description ................................................ ...................................................5 Environmental Factors Potentially Affected ....... ................................................. 20 Determination ........................................................ ................................................. 20 Evaluation of Environmental Impacts ................. .................................................22 Environmental Impacts ......................................... ................................................. 23 Earlier Analyses/ Incorporation by Reference .... ................................................. 32 Discusson of Checklist .......................................... .................................................34 1. Aesthetics .................................................... .................................................34 2. Agricultural Resources .............................. .................................................37 3. Air Quality .................................................. .................................................38 4. Biological Resources .................................. .................................................47 5. Cultural Resources ..................................... .................................................52 6. Geology and Soils ...................................... .................................................55 7. Hazards and Hazardous Materials .......... .................................................58 8. Hydrology and Water Quality .................. .................................................61 9. Land Use and Planning ............................. .................................................66 10. Mineral Resources .................................... .................................................67 11. Noise ......................................................... .................................................67 12. Population and Housing ......................... .................................................74 13. Public Services .......................................... .................................................74 14. Recreation ................................................. .................................................77 15. Transportation/ Traffic ............................ ................................................. 79 16. Utilities and Service Systems .................. ................................................. 87 17. Mandatory Findings of Significance ...... .................................................91 Initial Study Preparers .......................................... ................................................. 92 Agencies and Organizations Consulted .............. .................................................92 References .............................................................. .................................................92 Appendix ................................................................ ................................................. 93 INITIAL STUDY Jordan Ranch Property/Fallon Village Area PA # 09-011 City of Dublin Environmental Checklist/ Initial Study Introduction This Initial Study has been prepared in accordance with the provisions of the California Environmental Quality Act ("CEQA", Pub. Res. Code §§ 21000 et seq.,) and the CEQA Guidelines (Cal. Code Regs. title 14, §§ 15000-15387). This Initial Study analyzes whether any further environmental review is required for the Jordan Ranch Project under the standards of Public Resources Code section 21166 and CEQA Guidelines sections 15162 and 15163. Development of the Jordan Ranch property has been previously analyzed in three environmental impact reports which have been certified by the City: (1) Eastern Dublin General Plan Amendment and Specific Plan Environmental Impact Report, State Clearinghouse No. 91103064; (2) East Dublin Properties Stage 1 Development Plan and Annexation Supplemental EIR (State Clearinghouse No. 2001052114); and (3) Fallon Village Project Draft Supplemental Environmental Impact Report (State Clearinghouse Number 2005062010). This Initial Study analyzes whether the proposed Jordan Ranch Project will result in any new or substantially more severe significant environmental impacts than those analyzed in these prior EIRs or whether any other of the other standards requiring further environmental review under CEQA are met. This Initial Study assesses program changes and development-level activities to implement that program through Stage 2 Planned Development Zoning, including a Stage 2 Development Plan, SDR approval, a Vesting Tentative Subdivision Map, a Development Agreement, and related development permits on the Jordan Ranch Property ("Project site"), all of which are described below in the Project Description. These entitlements are referred to herein as the "Project." Prior Environmental Impact Reports This Initial Study consists of a completed environmental checklist and a brief explanation of the environmental topics addressed in the checklist. A considerable amount of CEQA work has been done already for future development in Eastern Dublin, including the Project site. A Program Environmental Impact Report was certified through Resolution No. 51-93 by the City of Dublin in 1993 for the Eastern Dublin General Plan Amendment and Specific Plan (Eastern Dublin General Plan Amendment and Specific Plan Environmental Impact Report, State Clearinghouse No. 91103064; ('Eastern Dublin EIR" or "EDEIR"). That EIR evaluated the following impacts: Land Use; Population, Employment and Housing; Traffic and Circulation; Community City of Dublin Page 2 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Services and Facilities; Sewer, Water and Storm Drainage; Soils, Geology and Seismicity; Biological Resources; Visual Resources; Cultural Resources; Noise; Air Quality; and Fiscal Considerations. As part of the City's approval of the Eastern Dublin General Plan Amendment and Specific Plan through Resolution No. 53-93, the City Council adopted a Statement of Overriding Considerations for the following impacts: cumulative loss of agriculture and open space land, cumulative traffic, extension of certain community facilities (natural gas, electric and telephone service), consumption of non-renewable natural resources, increases in energy uses through increased water treatment and disposal and through operation of the water distribution system, inducement of substantial growth and concentration of population, earthquake ground shaking, loss of degradation of botanically sensitive habitat, regional air quality, noise and visual. The Eastern Dublin EIR was challenged in court and was found to be legally adequate. In 2001, the East Dublin Property Owners (EDPO) requested annexation, pre-zoning and related approvals for a 1,120 acre Project Area, including the Jordan Ranch Property. The Project Area was within the development area previously approved by the City in 1993; and was within the scope of the project/program analyzed in the Eastern Dublin EIR. In response to EDPO and consistent with the City's practice for projects in Eastern Dublin, in 2001 the City prepared an Initial Study to determine if the annexation and pre-zoning requests would require additional environmental review beyond that set forth in the Eastern Dublin EIR. That 2001 Initial Study disclosed that many of the anticipated impacts of the proposed annexation and pre-zoning were adequately addressed in the Eastern Dublin EIR. This was predictable given the comprehensive planning for the development area; the Eastern Dublin EIR's analysis of buildout under the Dublin General Plan and Eastern Dublin Specific Plan land use designations and policies; the long term 20-30 year focus of the Dublin General Plan, Eastern Dublin Specific Plan and Eastern Dublin EIR analyses; the fact that annexation and pre-zoning actions were specifically contemplated in the Eastern Dublin EIR; and the fact that the annexation request proposed the same land uses analyzed for the Project Area in the Eastern Dublin EIR. Although the 2001 Initial Study concluded that the Eastern Dublin EIR adequately analyzed most of the potential environmental impacts of the proposed annexation and rezoning, it also identified the potential for some new significant impacts or substantially intensified impacts beyond those analyzed in the Eastern Dublin EIR. The City determined that the potential new and/or substantially intensified impacts required review at an EIR level and concluded that a Supplemental EIR should be prepared. So, in 2001 and 2002, the Eastern Dublin EIR was updated and supplemented by the East Dublin Properties Stage 1 Development Plan and Annexation Supplemental EIR (State Clearinghouse No. 2001052114). That Supplemental EIR, referred to in this Initial Study as the "2002 SEIR," provided updated analyses of agricultural resources, biology, air quality, noise, traffic and circulation, schools, and utilities. In certifying the 2002 SEIR and approving the prezoning, the City Council, through Resolution No. 40-02, adopted a Statement of Overriding Considerations for cumulative air quality and cumulative traffic impacts. The 2002 SEIR was challenged in court and was found to be legally adequate. City of Dublin Page 3 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 In 2005, a second Supplemental EIR (identified as the "2005 Supplement" or "2005 SEIR" in this Initial Study) was prepared and certified by the City of Dublin for the Fallon Village project, which included the same properties as the 2002 SEIR (see City Council Resolution No. 222-05). The second SEIR addressed new and detailed information for the proposed development areas, and, as well as several changes in circumstances since the prior EIRs which could have affected the impacts and/or mitigations previously identified for the Fallon Village Project. Such changes in the previously analyzed project and circumstances included, but were not limited to: 1) continued development in the Tri-Valley area and beyond with potential changes in commute patterns and traffic intensities, which also may affect air quality and noise within or on the Project area; 2) changes in the provision and distribution of some public services (schools) and public utilities (water, wastewater, and storm drainage), 3) changes in circulation patterns on the Fallon Village site; 4) completion of a Resource Management Plan (RMP) for biological and cultural resources on the Fallon Village site and additional site-specific biological and cultural resources studies which did not previously exist; 5) changes in the development density and intensity in the Fallon Village Project area that may increase impacts over those previously reviewed; and 6) submittal of Stage 2 Development Plans, subdivision maps and other permit applications containing detailed development plans for the northern portion of Fallon Village known as Positano not previously reviewed at a project level. Unlike the Eastern Dublin EIR and the 2002 SEIR, the 2005 Supplemental EIR was a combination Program-level document and a Project-level document. The program-level portion of 2005 SEIR focused on the new or substantially increased significant impacts of potential future development pursuant to a proposed General Plan, Eastern Dublin Specific Plan, and Stage 1 Development Plan amendments for the entire 1,138-acre project area, including the Jordan Ranch Project site. Additionally, the 2005 Supplemental EIR reviewed proposed individual development projects for the northern portion of the area, the environmental impacts they would generate, and the avoidance and mitigation measures they would employ at a project-level. The Jordan Ranch property was analyzed at a program level in this document. However, it was intended to be used as the environmental review for the approval of future project level entitlements (such as the Stage 2 Planned Development Zoning and SDR) unless the standards under Public Resources Code section 21166 and CEQA Guidelines sections 15162 and 15163 were met. Mitigation Measures contained in the three previous Environmental Impact Reports applicable to the Project site will be applied to the current Project. The Eastern Dublin EIR, 2002 SEIR and 2005 SEIR are collectively referred to herein as "prior EIRs" or "previous EIRs." This Initial Study has been prepared to address requested land use entitlements for the Jordan Ranch Property within the Fallon Village area as described more fully below. This Initial Study further examines whether additional environmental review is required under CEQA Guidelines Section 15162 or 15163. The resolutions, ordinances and prior EIRs referenced above are incorporated by reference, and are all available for City of Dublin Page 4 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 review by the public during normal business hours at the Community Development Department, Dublin City Hall, 100 Civic Plaza, Dublin, 94568. Applicant/Contact Person Mission Valley Properties Attn: Mr. Kevin Fryer 5000 Hopyard Road, Suite 170 Pleasanton, CA 94588 Phone: (925) 467 9900 Project Description Project location and context The Project includes proposed land use entitlements for an approximately 187.9-acre site located in Eastern Dublin, California. Exhibit 1 shows the Project site location in Eastern Dublin. The site is bounded on the west by Fallon Road and Positano Parkway, on the north by the Positano residential community being developed by Braddock & Logan, on the on the east by property owned by the Croak family and on the south by property owned by the Chen family. Access to the site is provided by Fallon Road, a major arterial roadway in the Eastern Dublin Planning Area. Fallon Road has a major interchange with the I-580 freeway south of the Project site, extends north adjacent to and west of the Jordan Ranch property, then turns to the west to provide access to other properties in Eastern Dublin, eventually connecting with Tassajara Road. Positano Parkway intersects with Fallon Road adjacent to Jordan Ranch and extends north into the Positano development. Central Parkway would be extended east of Fallon Road as part of the Project to provide access to the development area southeast of the drainage swale. Regional access to the site is provided by Interstate 580 to the south. Exhibit 2 shows the Jordan Ranch in context with other surrounding properties and features. The Project site is currently vacant and was previously used for cattle grazing. It formerly contained a single-family dwelling and associated outbuildings. Surrounding land uses include Dublin Sports Park, being developed on the west side of Fallon Road, west of the Project site, single family residences in the Positano community to the north and generally vacant lands to the east and south. Site topography is characterized by rolling hills and grasslands with shallow to moderate topographic relief. The previous use of the site was as a cattle ranch. The site contains three generally north-south-running drainage courses as well as a number of naturally occurring and man-made ponds. A number of native and non-native stands of trees are present on the property. City of Dublin Page Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Project background and prior planning approvals The Jordan Ranch Property is located in the City's Eastern Dublin Specific Plan (EDSP) area. Previous City of Dublin land use approvals regarding the Project site include: 1993 Eastern Dublin General Plan Amendment and Specific Plan. In 1993, the City Council approved the Eastern Dublin General Plan Amendment (EDGPA) and the Eastern Dublin Specific Plan (EDSP). The approved project was a modified version of the original EDGPA for the 6,920-acre Eastern Dublin planning area. The original EDGPA proposed to change commercial land use designations on County property in the southwest portion of the GPA area and agriculture/ open space designations elsewhere in the planning area to a range of urban uses. At the same time, a new EDSP addressed 3,328 acres within the larger 6,920-acre EDGPA. The EDSP supplements the EDGPA with more detailed land use designations, policies, programs and regulations. The original EDGPA land use plan proposed to replace the undeveloped planning area with a mixed-use urban community. At buildout, the EDGPA planning area was projected to provide 17,970 new residences on 4,993 acres, including 2,672 acres designated for Rural Residential with a 100-acre minimum parcel size. Approximately 10.6 million square feet of new commercial space, 25 parks on 287 acres, 571 acres of designated open space, and 12 new schools were also planned. Buildout was expected to occur over a 20-30 year period from the start of construction. The EDSP encompassed 3,328 acres in the western portion of the EDGPA planning area. Seventy percent of the EDGPA residential development and 9470 of the new commercial space was planned for the Specific Plan area. The land use plan called for compact villages with residential and neighborhood serving uses. Employment-generating commercial uses are generally provided along arterials with transit access. The Eastern Dublin EIR was based on the original 6,920-acre planning area and land use designations, and 3,328-acre Specific Plan area, both as described above. As required by CEQA, the EIR also identified project alternatives, including a Reduced Planning Area (RPA) alternative, which the City Council adopted in a modified form in 1993. The adopted modified RPA alternative reduced the GPA area by 2,744 acres, provided for buildout of the Specific Plan area and buildout of the EDGPA area only within the Dublin Sphere of Influence. 2002 Prezoning and Annexation. In 2001, an application was filed with the City by a number of owners in the Eastern Dublin area to annex the area to the City and the Dublin San Ramon Services District area (DSRSD). Applications were also filed for prezoning to the PD-Planned Development Zoning District and a related Stage 1 Development Plan to guide future development of the Fallon Village area. The annexation and prezoning were approved. These actions all included the Jordan Property. City of Dublin Page 6 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 As required by the Dublin Zoning Ordinance, the 2002 prezoning included a Stage 1 Development Plan. The 2002 Stage 1 Development Plan covered the entire Fallon Village Project area and reflects the general land use types, densities and locations established in the 1993 Eastern Dublin project approvals. At the time of annexation, the residential land use intensity was established by using the mid-point of the allowable density ranges. Retail, industrial and office land use intensity was established by defined floor area ratio. In approving the 2002 Stage 1 Development Plan, the City further established maximum development intensities by property. The Stage 1 Development Plan also included a master landscape plan and development phasing plan. Resource Management Plan. In 2003, the City retained a team of consultants to prepare a Resource Management Plan (RMP) for the Project area. The RMP implements mitigation measure SM-BIO-1 adopted with the 2002 annexation and prezoning approvals. The purpose of the RMP was to address impacts to biological resources in a coordinated manner across the entire Fallon Village Project area. The effort included conducting necessary biological analyses and developing necessary protection and/or management methods. The RMP was accepted by the Dublin City Council in September 2004 and was used as one of the key documents in formulating the amended 2005 Stage 1 Development Plan. 2005 General Plan and Eastern Dublin Specific Plan Amendments. These amendments proposed to include all of the Fallon Village Project area into the Eastern Dublin Specific Plan. Also proposed was a Planned Development Rezoning amending the then-existing Stage 1 Development Plan to modify overall land use patterns within the Fallon Village area and adopting a Stage 2 Development Plan, a Development Agreement and Subdivision Map for the approximately 486 acres in the northerly portion of the Fallon Village area. The 2005 Project also included Williamson Act Contract cancellation for certain properties. The 2005 GPA, current Eastern Dublin Specific Plan, and Stage 1 PD Rezoning designate the Project site as a mix of Low Density Residential, Medium Density Residential, Medium-High Density Residential, Neighborhood Commercial, Community Park, Neighborhood Park, Neighborhood Square, Open Space and Elementary School site. City of Dublin Page 7 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Table 1. Jordan Ranch Existing Stage 1 Planned Development Land Uses Land Use Acres Density (units/acre) Non- Residential S q. Ft. Dwellings Single-Family 48.0 4 -- 192 Medium Density Residential 23.4 10 -- 234 Medium-High Density Residential 21.8 20 -- 542 Mixed Use 6.4 15/0.3 FAR 83,635 96 Elementary School 10.0 -- - Neighborhood Park 5.8 - -- Neighborhood Square 2.7 -- -- Community Park 11.1 -- -- - Semi-Public 2.4 -- -- Open Space 60.5 - -- - Total 189.7 - 83,635 1,064 Source: Dublin City Council Resolution No. 223-05 approved December s, zuu5 Project Characteristics Overview The application includes a request to the City of Dublin for a Stage 2 Planned Development Rezoning and Development Plan, Site Development Review (SDR), Vesting Tentative Tract Map, and a Development Agreement. Stage 2 Rezoning and Development Plan. The proposed Stage 2 Development Plan for this Project includes construction of a mix of 780 dwelling units, up to 12,000 square feet of commercial uses, a range of public parks, public and semi-public uses, open spaces and roadways. Table 2 includes a statistical summary of proposed uses. City of Dublin Page S Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Table 2. Jordan Ranch Proposed Stage 2 Planned Development Land Uses Land Use Density Ran e* Dwellings Gross Acres** Units/Acre Low Density Residential 0.9-6.0 du / ac 252 52.7 4.8 Medium Density Residential 6.1-14.0 du/ac 201 29.2 6.9 Medium-High Density Residential 14.1-25 du/ac. 222 15.8 14.1 Mixed Use MU (105 units + up to 12,000 sf retail) 105 6.6 15.9 School -- - 10.1 Community Park -- -- 11.1 Neighborhood Park -- -- 5.8 Neighborhood Square -- -- 2.7 Semi-Public -- -- 2.7 (2.0 net) Open Space -- -- 52.7 Total - 780 189.7**` 4.1 Density range contained in existing Stage 1 Planned Development approval " Approx. gross acreages of the areas proposed in the Jordan Ranch Project Includes land use adjustment for dedication of land for Positano Pkwy. Source: Project Applicant, 2010 Development under the proposed Development Plan would be oriented around a major northeast to southwest drainage swale, which would be preserved as the major open space feature of the Jordan Ranch Project. Land uses northwest of the Open Space are would consist of Low Density, single family dwellings on individual lots as well as a Neighborhood Park. Uses southeast of the Open Space area would include a mix of cluster houses, small-lot alley-oriented dwellings, three-story townhouses and townhouses with flats, a community park, neighborhood square, a mixed -area, public/semi-public uses and a school site. Exhibit 3 depicts the proposed Stage 2 Development Plan. Following is a brief description of each major residential component: Single-family dwellings: Up to 252 dwellings would be built in the northwest portion of the Project site, one on each subdivided lot. Dwellings would be of one-and two- story construction with attached garages. Dwellings would be setback from adjacent streets and from interior lot lines. City of Dublin Page 9 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Cluster dwellings: Up to 111 cluster dwellings would be built on the southeast side of the main Open Space corridor. This dwelling type would include small two-story dwellings ranging from approximately 1,596 to 2,111 square feet each. Dwellings would be constructed in clusters of four dwellings served by private access drives to individual garages. Maximum building heights would be up to 30 feet above finished grade. Small lot alley units: Small lot alley-oriented dwellings would be sited in the approximate center of the eastern portion of the Project site. Up to 94 dwellings of this type would be built. Small lot dwellings would contain between 1,510 to 1,931 square feet in four floor plan types. These dwellings would include both two-story and three-story construction with a maximum height of up to 30 feet above finished grade. Each dwelling would have a two-car garage access from an alley to the rear of the dwelling. Townhouses: Up to 218 townhouse units would be built in the southeast portion of the Project site. These units would be built as both three-plex and six-plex attached dwellings in a three-story configuration Townhouses would contain between 1,711 to 2,136 square feet in four floor plans. A two-car garage would be provided for each dwelling. Maximum heights of the townhouses would be up to 40 feet above final grade. Mixed Use Units: The Mixed-Use portion of the Project would be on approximately 6.6 acres of the site on the south side of the extension of Central Parkway adjacent to the eastern property line of the Project site. This component of the Project would include up to 105 dwellings and up to 12,000 square feet of retail space. The proposed design of this area would include flex-retail space on the ground floor with residential lofts on upper floors. Buildings in the Mixed-Use component would be constructed in complexes of 7 units each with a three-story configuration. Maximum building heights would be up to 40 feet above finished grade. Each dwelling would include an enclosed 2-car garage plus one guest space per each unit. Precise land uses within the Mixed-Use component of the Project are not known at this time, but are regulated by the listing of Permitted Uses contained in the existing Stage 1 Planned Development zoning. Typical uses could be retail commercial uses (including but not limited to retail sales of clothing, gifts, books and similar), office and service uses (including but not limited to accountants, architects, hair salons, travel agents), eating and drinking establishments and residential dwellings. Parks: The proposed Stage 2 Development Plan includes an approximate 11.1-acre (gross) Community Park to be located between Central Parkway and the southern property line, an approximate 5.8-acre Neighborhood Park on the east side of the Single-Family Home portion of the Site and northwest of the central Open Space feature. An approximately 2.7-acre Neighborhood Square would be sited in the southeast corner of the site. City of Dublin Page 10 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Park sites are shown on Exhibit 3. PubliclSemi-Public Uses: An approximate 2-acre site has been reserved in the southeast portion of the Project Site for a future semi-public use. This use or uses will be determined in the future and will be consistent with the intent of the City to provide a site for such uses as a child-care facility, church or similar use. A 10.1-acre (gross) Elementary School Site has been reserved on the eastern portion of the Project site. Open Space: The primary Open Space feature would be located in the approximate center of the Project site, in an area currently devoted to site drainage. As required by the Resource Management Plan, the Open Space area would preserve existing biological resources on the Jordan ranch property, including wetland features. The Open Space area would also contain a trail network. Building Designs. The overall design of the site is intended to reflect a time when simple farmhouses, cottages and barns were the predominant built structures among the hillsides. The design intent is to create a community that touches upon the history of the site. To accomplish this, a rural palette of architectural styles is used to develop the theme: Farmhouse, Cottage, Shingle, Italianate, and Folk Victorian. The simplicity of the structures is the key element used to evoke this theme. Homes are proposed to have a basic massing and form, which is the framework of the design theme. This is an important feature because the architectural style would not have much ornamentation. Pitch breaks, dormers, lifts and dropped plates accent the simplicity of the massing and are features that are common to the style. Modest materials associated with local rural buildings are also important features of the Project's design theme. These materials are proposed to be used in different combinations to create both traditional and more contemporary interpretations of the architectural styles. Examples include: Elevation Materials: Lap siding Shingle siding Board and Batt siding Stucco Roofing Materials: Composition Shingle Standing seam metal roofing Accent Materials: Brick Stone Shutters Potshelves City of Dublin Page 11 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Access and Circulation. Primary access to the Project site would continue to the provided by Fallon Road. Central Parkway would also be extended in an east-west direction through the southern portion of the site that would provide access to the townhouse neighborhoods, the Community Park, the Neighborhood Square, the mixed- use area and the Semi-Public area. It is intended that Central Parkway would be extended further east to connect with Croak Road off of the Project site, which is not part of this Project. The neighborhood in the northwest portion of the site would be served by three roadway connections with Fallon Road, one to Positano Parkway and one to the single- family neighborhood to the north (La Vina). A number of smaller local roadways would be constructed throughout the Jordan Ranch site linking each of the neighborhoods, parks and other uses with Central Parkway and Fallon Road. These roads are shown on Exhibit 3. Roads would be a mix of public roads, within the single-family neighborhoods, and private roads in the small lot alley dwellings, townhouse and mixed use neighborhoods. In terms of pedestrian access, sidewalks would be provided adjacent to all public roads and a public trail would be constructed adjacent to both sides of the Open Space corridor. There would also be a pedestrian and bicycle trail link between the northwest and southeastern portions of the Project though the Open Space area. Parking. Each of the various Project components would include on-site parking for various uses. Generally, each dwelling would include an enclosed 2-car garage on each lot. There would also be various open guest parking spaces throughout the Small Lot Alley Home complex, the Townhouse Complexes and the Mixed-Use Complex. Utility Services: Dublin San Ramon Services District (DSRSD) would provide domestic and recycled water to the site as well as wastewater treatment and disposal services. The Project site has been annexed into DSRSD as part of previous actions relative to Fallon Village (formerly EDPO) and such services are planned to the Project Site in accordance with the DSRSD Eastern Dublin Facilities Master Plan. The Project Developer will be required to install local waterlines as well as paying fees to DSRSD to assist in funding upgraded water facilities in this portion of Eastern Dublin, consistent with applicable Facility Master Plans. Wastewater service would require the Project developer to install local underground sewer lines to transport wastewater to DSRSD's regional treatment plant. Sewer lines are all proposed to be gravity flow. Recycled water would be provided to the Project site for use in irrigation of common open space areas and other areas. This would reduce the need for potable water for the proposed Project. City of Dublin Page 12 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Preliminary drainage plans including collecting stormwater runoff in a series of underground pipes within streets and easements and transporting drainage flows to a central pipeline within the main Open Space area. Low-flow stormwater would enter a water quality pond in the southwest corner of the Jordan Ranch property (described below) for filtration and cleansing pursuant to clean water requirements before entering the G-3 regional drainage facility south of the site. Stormwater generated by development of urban uses on the Jordan Ranch would then flow into the Arroyo Mocho and ultimately into San Francisco Bay. Water Quality Protection. The proposed Project will be subject to Best Management Practices to support water quality standards as enforced by the City of Dublin. For the Jordan Ranch Project, surface stormwater runoff would flow into a multi-purpose drainage basin located in the southwest portion of the site that would detain water and also serve as a bio-swale to filter and cleanse stormwater run-off prior to entering the regional drainage system. Project Grading. The applicant proposes to grade the Project site to allow construction of the various development areas, extend roadways and improve site drainage. It is anticipated that grading quantities will balance on site with no need for import or export of fill material. Inclusionary Housing Requirements. Dublin's Zoning Ordinance (Chapter 8.68) requires that 12.5 percent of the number of dwelling units in each development project be restricted for occupancy by very low, low and moderate income households. Provision of up to 57o of these the 12.5% of the inclusionary units may be satisfied through payment of an in-lieu fee to the City. Implementation of the City's inclusionary requirement for this Project will be identified in the Development Agreement. Phasing. It anticipated that the proposed Project would be constructed in several phases. Phasing for the overall proposed Project is unknown and subject to market demands. Utility connections, access, grading and emergency services would be provided to meet the requirements of the City of Dublin and other potentially affected service providers. Public Art. Pursuant to applicable provisions of the Dublin Zoning Ordinance, the Project applicant proposes to pay applicable public art fees to the City to satisfy requirements for providing public art. Development Agreement. A Development Agreement is proposed to be executed between the City of Dublin and the applicant, pursuant to the Eastern Dublin Specific Plan. The terms of the Development Agreement will not result in any significant environmental impacts beyond those caused by the implementation of the Jordan Ranch Project that are analyzed in this Initial Study. Requested land use entitlements City of Dublin Page 13 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 The following land use entitlements have been requested to allow implementation of the proposed Project: • Stage 2 Planned Development Rezoning and a Stage 2 PD Development Plan; • Site Design Review (SDR) approval; • A Vesting Tentative Subdivision Map; and • A Development Agreement. City of Dublin Page 14 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Exhibit 1-Site Location in Eastern Dublin City of Dublin Page 15 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Exhibit 2- Jordan Ranch Site Context City of Dublin Page 16 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Exhibit 3-Proposed Stage 2 Development Plan City of Dublin Page 17 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 1. Project description The applicant requests approval of a Stage 2 Planned Development rezoning, a Stage 2 PD Development Plan, Site Development Review approval and a Vesting Tentative Subdivision map to allow the development of up to 780 dwellings and 12,000 square feet of retail commercial uses along with a Community Park, Neighborhood Park, Neighborhood Square, Public/Semi-Public site and a major Open Space feature on a 189.7 acre site. The Project also includes approval of a Development Agreement, extension of roadways, site grading and extension of utilities to the site. 2. Lead agency: City of Dublin 100 Civic Plaza Dublin, CA 94583 3. Contact person: Mike Porto, Dublin Planning Department (925) 833 6610 4. Project location: East of Fallon Road, north and south of the planned extension of Central Parkway 5. Project contact person: Kevin Fryer Mission Valley Properties 5000 Hopyard Road, Suite 170 Pleasanton, CA 94588 Phone: (925) 467 9900 6. Existing General Plan Single Family Residential (0.9-6.0 du/ac.), Land Use Designation Medium Density Residential (6.1-14.0 du/ac.), Medium-High Density Residential (14.1-25.0 du / ac.), Mixed Use,Elementary School, Community Park, Neighborhood Park, Neighborhood Square, Semi-Public and Open Space. 8. Existing & Proposed PD-Planned Development Zoning: 9. Other public agency necessary, potential and/or desired approvals: City of Dublin Page 18 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 • Grading Plans, Improvement Plans, and Building Permits (Dublin) • Sewer and water connections (DSRSD) • Encroachment permits (Dublin) • Finding of Consistency with Alameda Co. Airport Land Use Plan (Alameda County Airport Land Use Commission) • Notice of Intent (State Water Resources Control Board) • 404 Permits (US Army Corps of Engineers) • Streambed Alteration Permit (California Department of Fish and Game) • Permits from San Francisco Bay Regional Water Quality Control Board • Permits from U.S. Fish and Wildlife Service City of Dublin Page 19 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Environmental Factors Potentially Affected The environmental factors checked below may be potentially affected by this Project, involving at least one impact that is a "potentially significant impact" as indicated by the checklist on the following pages. - Aesthetics - Agricultural - Air Quality Resources - Biological - Cultural Resources - Geology/Soils Resources - Hazards and - Hydrology / Water - Land Use/ Hazardous Quality Planning Materials - Mineral Resources - Noise - Population/ Housing - Public Services - Recreation - Transportation/ Circulation - Utilities/ Service - Mandatory Systems Findings of Si nificance Determination On the basis of this initial evaluation: _ I find that the proposed Project could not have a significant effect on the environment and a Negative Declaration will be prepared. _ I find that the proposed Project could not have a significant effect on the environment and a Addendum will be prepared. _ I find that although the proposed Project could have a significant effect on the environment, there will not be a significant effect in this case because the mitigation measures described on an attached sheet have been added to the Project. A Negative Declaration will be prepared. _I find that although the proposed Project may have a potentially significant effect, or a potentially significant effect unless mitigated, on the environment, but at least one effect: 1) has been adequately analyzed in an earlier document pursuant to applicable legal standards; and 2) has been addressed by mitigation measures based on the earlier analysis as described on the attached sheets. A City of Dublin Page 20 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 focused Supplemental Environmental Impact Report is required, but it must only analyze the effects that remain to be addressed. X I find that although the proposed Project could have a significant effect on the environment, there will not be any new or substantially more severe significant effect in this case because all potentially significant effects: a) have been analyzed adequately in an earlier EIR pursuant to applicable standards; and (b) have been avoided or mitigated pursuant to that earlier EIR, including revisions or mitigation measures that are imposed on the proposed Project, except for those impacts which were identified as significant and unavoidable and for which a Statement of Overriding Considerations was previously adopted by the City. An Addendum to the Eastern Dublin Environmental Impact Report, the 2002 Supplemental Environmental Impact Report and the 2005 Supplemental Environmental Impact Report will be prepared. Signature: Date: April 30, 2010 Printed Name: Michael Porto, Planning Consultant For: City of Dublin Planning Department City of Dublin Page 21 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Evaluation of Environmental Impacts 1) A brief explanation is required for all answers. Certain "no impact" answers are supported by the information sources the lead agency cites in the parenthesis following each question. A "no impact" answer is adequately supported if the referenced information sources show that the impact simply does not apply to projects like the one involved (e.g. the project falls outside a fault rupture zone), or, in this case, there is no impact of the proposed project beyond that which was considered previously in the 1993 EIR, and / or the 2002 SEIR, and / or the 2005 SEIR, and/or for which a Statement of Overriding Considerations was adopted by the City Council at the time the 1993 EIR and / or the 2002 SEIR and / or 2005 SEIR was certified. A "no impact" answer should be explained where it is based on project-specific factors as well as general factors (e.g. the project will not expose sensitive receptors to pollutants, based on a project-specific screening analysis). 2) All answers must take account of the whole action, including off-site as well as on-site, cumulative as well as project-level, indirect as well as direct, and construction as well as operational impacts. 3) "Potentially Significant Impact" is appropriate if there is substantial evidence that an effect is significant. It there are one or more "potentially significant impact" entries when the determination is made, an EIR is required. 4) "Negative Declaration: Potentially Significant Unless Mitigation Incorporated" implies elsewhere the incorporation of mitigation measures has reduced an effect from "potentially significant effect" to a "less than significant impact". The lead agency must describe the mitigation measures and briefly explain how they reduce the effect to a less than significant level. City of Dublin Page 22 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Environmental Impacts (Note: Source of determination listed in parenthesis. See listing of sources used to determine each potential impact at the end of the checklist) Note: A full discussion of each item is found following the checklist. 1. Aesthetics. Would the project: a) Have a substantial adverse effect on a scenic vista? (Source: 1,2,6) b) Substantially damage scenic resources, including but not limited to trees, rock outcroppings, and historic buildings within a state scenic highway? (Source: 1,2,6) c) Substantially degrade the existing visual character or quality of the site and its surroundings? (Source: 6) d) Create a new source of substantial light or glare which would adversely affect day or nighttime views in the area? (Source: 1, 6) 2. Agricultural Resources Would the project: a) Convert Prime Farmland, Unique Farmland or Farmland of Statewide Importance, as shown on the maps prepared pursuant to the Farmland Mapping and Monitoring Program of the California Resources Agency, to a non- agricultural use? (Source: 2,3, 4) b) Conflict with existing zoning for agriculture use, or a Williamson Act contract? (Source: 6,7) c) Involve other changes in the existing environment which, due to their location or nature, could result in conversion of farmland to a non- agricultural use? (Source: 2,3,6) 3. Air Quality (Where available, the significance criteria established by the applicable air quality management district may be relied on to make the following determinations). Would the project: a) Conflict with or obstruct implementation of the applicable air quality plan? (Source: 2) b) Violate any air quality standard or contribute substantially to an existing or projected air quality violation? (Source: 2,3,4) Potentially Significant Impact Less Than Significant With Mitigation Less than Significant Impact No New Impact X X X X X X X X X City of Dublin Initial Study/Jordan Ranch Property PA 09-011 Page 23 April 30, 2010 c) Result in a cumulatively considerable net increase of any criteria pollutant for which the project region is non-attainment under an applicable federal or state ambient air quality standard (including releasing emissions which exceed quantitative thresholds for ozone precursors? (2,3,4) d) Expose sensitive receptors to substantial pollutant concentrations? (Source: 2,3,4) e) Create objectionable odors affecting a substantial number of people? (Source: 6,7) 4. Biological Resources. Would the project a) Have a substantial adverse effect, either directly through habitat modifications, on any species identified as a candidate, sensitive, or special status species in local or regional plans, policies or regulations, or by the California Department of Fish and Game or the U.S. Fish and Wildlife Service?(Source: 2,3 ,4,7 ) b) Have a substantial adverse effect on any riparian habitat or other sensitive natural community identified in local or regional plans, policies or regulations or by the California Department of Fish and Game or the U.S. Fish and Wildlife Service? (Source: 2,3,4,7) c) Have a substantial adverse effect on federally protected wetlands as defined by Section 404 of the Clean Water Act (including but not limited to marsh, vernal pool, coastal, etc.) through direct removal, filling, hydrological interruption or other means? (Source: Source: 2,3,4,7) d) Interfere substantially with the movement of any native resident or migratory fish or wildlife species or with established native resident or migratory wildlife corridors, or impede the use of native wildlife nursery sites? (Source: 2, 3,4) e) Conflict with any local policies or ordinances protecting biological resources, such as tree protection ordinances? (Source: 2, 3,4) Potentially Significant Impact Less Than Significant With Miti ation Less than Significant Impact No New Impact X X X X X X X X City of Dublin Initial Study/Jordan Ranch Property PA 09-011 Page 24 April 30, 2010 f) Conflict with the provision of an adopted Habitat Conservation Plan, Natural Community Conservation Plan or other approved local, regional or state habitat conservation plan? (Source: 1,3,4) 5. Cultural Resources. Would the project a) Cause a substantial adverse impact in the significance of a historical resource as defined in Sec. 15064.5? (Source: 2,4,6) b) Cause a substantial adverse change in the significance of an archeological resource pursuant to Sec. 15064.5 (Source: 2,4,6) c) Directly or indirectly destroy a unique paleontological resource, site or unique geologic feature? (Source: 2,4,6) d) Disturb any human remains, including those interred outside of a formal cemetery? (2) 6. Geology and Soils. Would the project a) Expose people or structures to potential substantial adverse effects, including the risk of loss, injury, or death involving: i) Rupture of a known earthquake fault, as delineated on the most recent Earthquake Fault Zoning Map issued by the State Geologist or based on other substantial evidence of a known fault (Source: 2, 5,7) ii) Strong seismic ground shaking (2, 6) iii) Seismic-related ground failure, including liquefaction? (2,6) iv) Landslides? (2, 5) b) Result in substantial soil erosion or the loss of topsoil? (Source: 2,6) c) Be located on a geologic unit or soil that is unstable, or that would become unstable as a result of the project and potentially result in on- or off-site landslide, lateral spreading, subsidence, liquefaction or similar hazards (Source: 2, 6) d) Be located on expansive soil, as defined in Table 18-1-B of the Uniform Building Code (1994), creating substantial risks to life or property? (Source: 2, 6) Potentially Significant Impact Less Than Significant With Miti anon Less than Significant Impact No New Impact X X X X X X X X X X X X City of Dublin Initial Study/Jordan Ranch Property PA 09-011 Page 25 April 30, 2010 e) Have soils incapable of adequately supporting the use of septic tanks or alternative wastewater disposal systems where sewers are not available for the disposal of wastewater? (Source: 1, 2) 7. Hazards and Hazardous Materials. Would the project: a) Create a significant hazard to the public or the environment through the routine transport, use or disposal of hazardous materials (Source: 2, 4, 7) b) Create a significant hazard to the public or the environment through reasonably foreseeable upset and accident conditions involving the release of hazardous materials into the environment? (Source: 2, 4, 7) c) Emit hazardous emissions or handle hazardous materials or acutely hazardous materials, substances, or waste within one-quarter mile of an existing or proposed school? (Source: 2, 4, 7) d) Be located on a site which is included on a list of hazardous materials sites compiled pursuant to Government Code Sec. 65962.5 and, as a result, would it create a significant hazard to the public or the environment? (Source: 7) e) For a project located within an airport land use plan or, where such a plan has not been adopted within two miles of a public airport of public use airport, would the project result in a safety hazard for people residing or working in the project area? (Source: 2,4) f) For a project within the vicinity of private airstrip, would the project result in a safety hazard for people residing or working in the project area? (Source: 2, 4) g) Impair implementation of or physically interfere with the adopted emergency response plan or emergency evacuation plan? (Source: 2, 4) Potentially Significant Impact Less Than Significant With Miti ation Less than Significant Impact No New Impact X X X X X X X X City of Dublin Initial Study/Jordan Ranch Property PA 09-011 Page 26 April 30, 2010 h) Expose people or structures to a significant risk of loss, injury or death involving wildland fires, including where wildlands are adjacent to urbanized areas or where residences are intermixed with wildlands? (Source: 1,2,7) 8. Hydrology and Water Quality. Would the project: a) Violate any water quality standards or waste discharge requirements? (Source: 2, 4) b) Substantially deplete groundwater supplies or interfere substantially with groundwater recharge such that there would be a net deficit in aquifer volume or a lowering of the local groundwater table level (e.g. the production rate of existing nearby wells would drop to a level which would not support existing land uses or planned uses for which permits have been granted? (2,4) c) Substantially alter the existing drainage pattern of the site or area, including through the alteration of the course of a stream or river, in a manner which would result in substantial erosion or siltation on- or off-site? (Source: 2,4) d) Substantially alter the existing drainage pattern of the site or areas, including through the alteration of the course of a stream or river, or substantially increase the rate or amount of surface runoff in a manner which would result in flooding on- or off-site? (Source: 4, 7) e) Create or contribute runoff water which would exceed the capacity of existing or planned stormwater drainage systems or provide substantial additional sources of polluted runoff? (Source: 6) f) Otherwise substantially degrade water quality? (Source: 4) g) Place housing within a 100-year flood hazard area as mapped on a federal Flood Hazard Boundary or Flood Insurance Rate Map or other flood delineation map? (Source: 2,7) City of Dublin Initial Study/Jordan Ranch Property PA 09-011 Potentially Significant Impact Less Than Significant With Miti ation Less than Significant Impact No New Impact X X X X X X X X Page 27 April 30, 2010 h) Place within a 100-year flood hazard area structures which would impede or redirect flood flows? (Source: 2,7) i) Expose people or structures to a significant risk of loss, injury, and death involving flooding, including flooding as a result of the failure of a levee or dam? (2) j) Inundation by seiche, tsunami or mudflow? 9. Land Use and Planning. Would the project: a) Physically divide an established community? (Source: 1, 2, 4) b) Conflict with any applicable land use plan, policy, or regulation of an agency with jurisdiction over the project (including but not limited to the general plan, specific plan, or zoning ordinance) adopted for the purpose of avoiding or mitigating an environmental effect? (Source: 1, 2,4) c) Conflict with any applicable habitat conservation plan or natural community conservation plan? (1, 2,4) 10. Mineral Resources. Would the project a) Result in the loss of availability of a known mineral resource that would be of value to the region and the residents of the state? (Source: 1, 2) b) Result in the loss of availability of a locally important mineral resource recovery site delineated on a local general Plan, specific plan or other land use plan? (Source: 1, 2) 11. Noise. Would the proposal result in: a) Exposure of persons to or generation of noise levels in excess of standards established in the local general plan or noise ordinance, or applicable standards of other agencies? (5) b) Exposure of persons or to generation of excessive groundborne vibration or groundborne noise levels? (Source: 4,5) c) A substantial permanent increase in ambient noise levels in the project vicinity above existing levels without the project? (5) City of Dublin Initial Study/Jordan Ranch Property PA 09-011 Potentially Significant Impact Less Than Significant With Mitigation Less than Significant Impact No New Impact X X X X X X X X X X X Page 28 April 30, 2010 d) A substantial temporary or periodic increase in ambient noise levels in the project vicinity above levels existing without the project? (5) e) For a project located within an airport land use plan or, where such a plan has not been adopted, within two miles of a public airport or public use airport, would the project expose people residing or working n the project area to excessive noise levels? (2,4) f) For a project within the vicinity of a private airstrip, would the project expose people residing or working in the project area to excessive noise levels? (Source: 2,4) 12. Population and Housing. Would the project a) Induce substantial population growth in an area, either directly or indirectly (for example, through extension of roads or other infrastructure)? (Source: 2,7) b) Displace substantial numbers of existing housing, necessitating the construction of replacement housing elsewhere? (6, 7) c) Displace substantial numbers of people, necessitating the construction of replacement of housing elsewhere? (Source: 6, 7) 13. Public Services. Would the proposal: a) Would the project result in substantial adverse physical impacts associated with the provision of new or physically altered governmental facilities, need for new or physically altered government facilities, the construction of which could cause significant environmental impacts, in order to maintain acceptable service rations, response times or other performance objectives for any of the public services? (Sources: 2) Fire protection Police protection Schools Parks Other public facilities Solid Waste Potentially Significant Impact Less Than Significant With Miti ation Less than Significant Impact No New Impact X X X X X X X X X X X X City of Dublin Initial Study/Jordan Ranch Property PA 09-011 Page 29 April 30, 2010 14. Recreation: a) Would the project increase the use of existing neighborhood and regional parks or recreational facilities such that substantial physical deterioration of the facility would occur or be accelerated (Source: 2,4) b) Does the project include recreational facilities or require the construction or expansion of recreational facilities which might have an adverse physical effect on the environment? (Source: 2,4) 15. Transportation and Traffic. Would the project: a) Cause an increase in traffic which is substantial in relation to the existing traffic load and capacity of the street system (i.e. result in a substantial increase in either the number of vehicle trips, the volume to capacity ratio on roads or congestion at intersections)? (4) b) Exceed, either individually or cumulatively, a level of service standard established by the County Congestion Management Agency for designated roads or highways? (4) c) Result in a change in air traffic patterns, including either an increase in traffic levels or a change in location that results in substantial safety risks? (4) d) Substantially increase hazards due to a design feature (e.g. sharp curves or dangerous intersections) or incompatible uses, such as farm equipment? (4) e) Result in inadequate emergency access? (4) f) Result in inadequate parking capacity? (48) g) Conflict with adopted policies, plans or programs supporting alternative transportation (such as bus turnouts and bicycle facilities) (4) Potentially Significant Impact Less Than Significant With Miti ation Less than Significant Impact No New Impact X X X X X X X X X City of Dublin Initial Study/Jordan Ranch Property PA 09-011 Page 30 April 30, 2010 16. Utilities and Service Systems. Would the project a) Exceed wastewater treatment requirements of the applicable Regional Water Quality Control Board? (2,4) b) Require or result in the construction of new water or wastewater treatment facilities or expansion of existing facilities, the construction of which could cause significant environmental effects? (2,6) c) Require or result in the construction of new storm water drainage facilities or expansion of existing facilities, the construction of which could cause significant environmental effects? (4,7 d) Have sufficient water supplies available to serve the project from existing water entitlements and resources, or are new or expanded entitlements needed? (3) e) Result in a determination by the wastewater treatment provider which serves or may serve the project that it has adequate capacity to serve the project's projected demand in addition to the providers existing commitments? (4) f) Be served by a landfill with sufficient permitted capacity to accommodate the project's solid waste disposal needs? (2) g) Comply with federal, state and local statutes and regulations related to solid waste? (2) 17. Mandatory Findings of Significance. a) Does the project have the potential to degrade the quality of the environment, substantially reduce the habitat of a fish or wildlife species, cause a fish or wildlife population to drop below self-sustaining levels, threaten to eliminate a plant or animal community, substantially reduce the number of or restrict the range of a rare or endangered plant or animal or eliminate important examples of the major periods of California history or prehistory? Potentially Significant Impact Less Than Significant With Miti ation Less than Significant Impact No New Impact X X X X X X X X City of Dublin Initial Study/Jordan Ranch Property PA 09-011 Page 31 April 30, 2010 b) Does the project have impacts that are individually limited, but cumulatively considerable? ("Cumulatively considerable" means that the incremental effects of a project are considerable when viewed in connection with the effects of past projects, the effects of other current projects and the effects of probable future projects). c) Does the project have environmental effects which will cause substantial adverse effects on human beings, either directly or indirectly? Potentially Significant Impact Less Than Significant With Miti anon Less than Significant Impact No New Impact X X Sources used to determine potential environmental impacts 1. Eastern Dublin General Plan Amendment/ Specific Plan 2. Eastern Dublin General Plan Amendment/ Specific Plan EIR 3. 2002 Supplemental EIR 4. 2005 Supplemental EIR 5. Project Acoustic Report (2010) 6. Site Visit 7. Other Source XVII. Earlier Analyses and Incorporation By Reference a) Earlier analyses used. Identify earlier analyses and state where they are available for review. The following Environmental Impact Reports have been used in the preparation of the Initial Study. All are available for review at the City of Dublin Community Development Department, 100 Civic Plaza, Dublin CA, during normal business hours. Each of the following documents are hereby incorporated by reference into this Initial Study. Eastern Dublin Environmental Impact Report, May, 1993, (SCH #91103064) • East Dublin Properties Stage 1 Development Plan and Annexation Draft Supplemental Environmental Impact Report, January 2002 and Final SEIR (March 2002) (SCH #2001052114) • Fallon Village Project Draft Supplemental Environmental Impact Report, August 2005 and Final SEIR (SCH #2005062010) City of Dublin Page 32 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 This Initial Study analyzes whether any further environmental review than that performed in these prior certified EIRs is required for the Jordan Ranch Project under the standards of Public Resources Code section 21166 and CEQA Guidelines section 15162 and 15163. This Initial Study analyzes whether the proposed Jordan Ranch Project will result in any new or substantially more severe significant environmental impacts than those analyzed in the prior EIRs or whether any other of the standards requiring further environmental review under CEQA are met. If the Initial Study determines that there are no new or substantially more severe environmental impacts than those analyzed in the prior EIRs and no CEQA standard for subsequent or supplemental review is met, then the impact is identified as "No New Impact." City of Dublin Page 33 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Discussion of Checklist 1. Aesthetics Environmental Setting The Project is set in an existing rural area of Eastern Dublin that is transitioning to urban uses under the auspices of the City of Dublin General Plan Amendment and Eastern Dublin Specific Plan, adopted in 1993. The Project site is characterized by a combination of rolling hills and grasslands with shallow to moderate topographic relief. Portions of the site adjacent to Fallon Road are typically flatter and contained a farmstead, since removed. A number of native and non-native trees are located on the Site and no major rock outcroppings are found on the Site. The closest scenic highway to the Project site is the I-580 freeway to the south. The Jordan Ranch property has limited visibitility from I-580 from the south, with direct views blocked by low hills located directly south of the site, north of the freeway. No portions of the Project site are identified as a "Visually Sensitive Ridgeline-Restricted Development." Surrounding properties consist of similar uses, including moderate to steeply sloping areas to the east and south, towards the I-580 freeway. There are no existing public parks, trails, public vistas or other public gathering places on the Site. As a largely rural, undeveloped area, no light sources exist on the Project site. Regulatory framework and Previous EIRs Dublin General Plan. The Project Site is included in the Eastern Dublin Extended Planning Area. Implementing Policy C.2 in Section 2.1.4 of the General Plan states that "proposed site grading and means of access will not disfigure ridgelands." Further, Implementing Policy C. 5 requires development projects to be consistent with all applicable General Plan and Specific Plan policies. Eastern Dublin Specific Plan. The City of Dublin adopted the Eastern Dublin Specific Plan (EDSP) in 1993 to guide the future development of approximately 3,400 acres of land in the Eastern Dublin area. Eastern Dublin EIR. The Eastern Dublin EIR contains a number of mitigation measures to reduce anticipated visual resource impacts from the General Plan and EDSP project. These include: • Mitigation Measure 3.8/1.0 reduced project impacts related to standardized tract development (IM 3.8/B) to a less-than-significant level. This mitigation requires future developers to establish visually distinct communities which preserves the City of Dublin Page 34 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 character of the natural landscape by protecting key visual elements and maintaining views from major travel corridors. Mitigation Measure 3.8/2.0 reduced the impact of converting the rural and open space character of the General Plan Amendment and Specific Plan area (IM 3.8/13) but not to a less-than-significant level. The mitigation measure requires implementation of the land use plan that emphasizes retention of predominant natural features. Even with adherence to this measure, IM 3.8/B would remain significant and unavoidable on both a project and cumulative level. • Mitigation Measure 3.8/3.0 reduced the impact of obscuring distinctive natural features of the General Plan Amendment and Specific Plan area (IM 3.8/C) but not to a less-than-significant level. The mitigation measure requires implementation of the land use plan that emphasizes retention of predominant natural features. Mitigation Measures 3.8/4.014.5 reduced the impact of altering the visual quality of hillsides (IM 3.8/1)) to a less-than-significant level. These mitigation measures require implementation of appropriate Eastern Dublin Specific Plan policies including but not limited to use of sensitive grading design to minimize grading, use of existing topographic features, limiting use of flat pads for construction, using building designs that conform to natural land forms, recontouring hillside to resemble existing topography and minimizing the height of cut and fill slopes. Mitigation Measures 3.8/5.0-5.2 reduced the impact of altering the visual quality of ridges (IM 3.8/E) to a less-than-significant level. These mitigation measures limit development on main ridges that border the Specific Plan area to the north and east but allow development on foreground hills. The measures also limit development in locations where scenic views would be obscured or would extend above a ridge top. • Mitigation Measures 3.8/7.0 and 7/1 reduced impacts on scenic vistas (IM 3.8 / I) to a less-than-significant level. These mitigation measures require protection of designated open space areas and directs the City to conduct a visual survey of the EDSP area to identify and map viewsheds. Neither the 2002 nor the 2005 Supplemental EIRs identified additional visual impacts or mitigation measures from the Eastern Dublin EIR. Many of the mitigation measures are also EDSP policies and programs. The 2005 SEIR contains an extensive listing of EDSP policies related to visual resources in the Fallon Village Project area (DEIR pp. 196-197). Eastern Dublin Scenic Corridor Policies and Standards. In 1996, the City of Dublin adopted scenic policies and standards for the Eastern Dublin area, known as the Eastern Dublin Scenic Corridor Policies and Standards. This document identifies the Site as lying within Zone 5, the Fallon Village Open Space area. This corridor area is defined primarily by City of Dublin Page 35 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 lands adjacent to public rights-of-way, which should be park, rural residential, open slopes or riparian drainage areas. Policy 11 states that development should "celebrate open space, with distant views as well as with foreground view and right-of-way landscaping." The proposed Project will be required to adhere to all applicable mitigation measures from previous EIRs and other land use regulations dealing with aesthetics, visual conditions and light and glare. Project Impacts a) Have a substantial adverse impact on a scenic vista? No New Impact. Approval and implementation of the proposed Project would result in no impacts regarding scenic vistas, since no such areas exist on the Site. Approval and implementation of the Project would create several public gathering places on the site, including a Community Park, Neighborhood Park, Neighborhood Square and central Open Space feature, so that residents and visitors would have an opportunity to take advantage of views of nearby and distant hillsides. No new or substantially more severe impacts regarding substantial adverse impacts on scenic vistas have been identified with regard to the proposed Project that have not been analyzed in the Eastern Dublin EIR or other SEIRs. b) Substantially damage scenic resources, including visual resources within state scenic highway? No New Impact. The proposed Project would include grading of the site to create flat building pads, parking areas, park areas, roads and similar areas, all of which would change the visual character of the Project site. Such grading has been anticipated in the Eastern Dublin EIR as well as the two subsequent SEIRs and the proposed Jordan Ranch Project will be required to adhere to existing Mitigation Measures (identified in the Regulatory Framework section, above) to reduce potential damage to scenic resources to a less-than- significant level. The majority of proposed buildings on site would be blocked from the south by the existing low hills immediately to the south. No development would occur on any visually sensitive ridge tops as defined in the Eastern Dublin Specific Plan. Motorists using I-580 would likely see proposed grading of the higher elevations of the site. Graded areas would be revegetated as required by Eastern Dublin EIR Mitigation Measure 3.6/28.0 to ensure that graded areas would blend in with existing natural slopes. All of the mitigation measures contained in the Eastern Dublin EIR and visual policies contained in the EDSP would apply to this Project. The Project would result in no new or substantially more severe significant impacts regarding scenic resources than have been analyzed in the prior EIRs. c) Substantially degrade existing visual character or the quality of the site? No New Impact. The proposed Project includes approving and implementing City of Dublin Page 36 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 development-level land use entitlements on the Project site. Aesthetic impacts would include disturbance of existing vegetation, paving of undeveloped land to create project roadways and grading to create development areas. The Eastern Dublin EIR addressed the following potential impacts related to visual and aesthetics impacts of implementing the Eastern Dublin Specific Plan: Impact 3.8/B: Urban development of the project site will substantially alter the existing rural and open space qualities that characterize Eastern Dublin The Eastern Dublin EIR identified the following measure to mitigate this impact Mitigation Measure 3.8/2.0, "Implement the land use plan for the Project site which emphasizes retention of predominant natural features..." However, the EIR concluded that even with adherence to this mitigation, alteration of rural and open space in the Project area would remain a potentially significant impact. A potential visual impact would be grading and recontouring of the site, which would be required to facilitate the proposed development. The Eastern Dublin EIR addresses this potential through Impact 3.8/B and includes mitigation to reduce this impact, but not to a less-than-significant level. The proposed Project includes the same overall types, locations and intensity of land use as assumed in prior EIRs, however, fewer dwellings would be constructed on the site than have been previously analyzed. The proposed Stage 2 Development Plan shows the dwellings can be accommodated consistent with adopted mitigation measures and EDSP policies. No new or substantially more severe significant impacts have been identified in this Initial Study than were previously analyzed in the prior EIRs. d) Create light or glare? No New Impact. The Project site contains no light sources and construction of the proposed Project would add additional light sources in the form of streetlights along collector and interior roads as well as new housing and yard lights. The potential effect of increased light and glare was analyzed in the Initial Studies for the 2002 SEIR (p. 77) and the 2005 SEIR. These analyses concluded that no significant light and glare impacts would result from development of the EDSP in the Fallon Village area. City development requirements to restrict spillover of unwanted light will apply to this proposed Project. Therefore, no new or substantially more severe significant impacts have been identified with respect to light and glare impacts than have been previously analyzed in the prior EIRs. 2. Agricultural Resources Environmental Setting and Previous CEOA Documents Figure 3.1-B contained in the Eastern Dublin EIR identifies the Project site as "lands of locally important farmlands." Impact 3.1/F found that the cumulative loss of agricultural lands was a significant and unavoidable impact of urban development in City of Dublin Page 37 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 the Eastern Dublin planning area. Impact 3.1 / C found the discontinuance of agricultural operations to be less-than-significant. The Project site is currently vacant and has historically been used for cattle grazing, although no cattle are currently on the site. Existing zoning is PD-Planned Development. No Williamson Act Land Conservation Agreements have been recorded on the Project site based on information contained in the Eastern Dublin EIR (see Figure 3.1-C.) The 2002 SEIR found no new supplemental impacts with respect to prime agricultural lands in the Fallon Village area beyond those analyzed in the 1993 Eastern Dublin EIR. The Initial Study for the 2005 SEIR (Appendix 1) found that potential impacts to agricultural resources were less-than-significant and no supplemental analysis of this topic was included in that SEIR. Project Impacts a,c) Convert prime farmland to a non-agricultural use or involve other changes which could result in conversion of farmland to a non-agricultural use ? No New Impact. Conversion of the site to urban uses was planned in the Eastern Dublin GPA and SP, and analyzed in the EDEIR and 2002 SEIR. The Project site is vacant and is not currently used for agricultural production or cattle grazing, although it was farmed in the past. The site is surrounded on two sides--north and west --with urban development. The property north of the site has been developed with the Positano residential community. A Community Park is being built just west of the site by the City of Dublin. Therefore, approval and implementation of the proposed Project would result in no new or substantially more severe significant impacts than have been analyzed in the prior EIRs. b) Conflict with existing zoning for agricultural use, or a Williamson Act contract? No New Impact. The proposed Project is presently zoned for urban uses and would not conflict with any existing agricultural zoning and would not conflict with a Williamson Act Agreement, since none exist on the Property. Therefore, no impacts would result with respect to these topics. 3. Air Quality Air pollution climatoloa. The amount of a given pollutant in the atmosphere is determined by the amount of pollutant released and the atmosphere's ability to transport and dilute the pollutant. The major determinants of transport and dilution are wind, atmospheric stability, terrain and, for photochemical pollutants, sunshine. The Project is within the Livermore Valley. The Livermore Valley forms a small sub regional air basin distinct from the larger San Francisco Bay Area Air Basin. The Livermore Valley air basin is surrounded on all sides by high hills or mountains. City of Dublin Page 38 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Significant breaks in the hills surrounding the air basin are Niles Canyon and the San Ramon Valley, which extends northward into Contra Costa County. The terrain of the Livermore-Amador Valley influences both the climate and air pollution potential of the sub-regional air basin. As an inland, protected valley, the area has generally lighter winds and a higher frequency of calm conditions when compared to the greater Bay Area. The occurrence of episodes of high atmospheric stability, known as inversion conditions, severely limits the ability of the atmosphere to disperse pollutants vertically. Inversions can be found during all seasons in the Bay Area, but are particularly prevalent in the summer months when they are present about 90% of the time in both morning and afternoon. According to the Bay Area Air Quality Management District (BAAQMD), air pollution potential is high in the Livermore Valley, especially for ozone in the summer and fall. High temperatures increase the potential for ozone, and the valley not only traps locally generated pollutants but can be the receptor of ozone and ozone precursors from upwind portions of the greater Bay Area. Transport of pollutants also occurs between the Livermore Valley and the San Joaquin Valley to the east. During the winter, the sheltering effect of terrain and its inland location results in frequent surface-based inversions. Under these conditions pollutants such as carbon monoxide from automobiles and particulate matter generated by fireplaces and agricultural burning can become concentrated. Ambient air quality standards Criteria Pollutants. Both the U. S. Environmental Protection Agency and the California Air Resources Board have established ambient air quality standards for common pollutants. These ambient air quality standards are levels of contaminants that represent safe levels that avoid specific adverse health effects associated with each pollutant. The ambient air quality standards cover what are called "criteria" pollutants because the health and other effects of each pollutant are described in criteria documents. Table 3 identifies the major criteria pollutants, characteristics, health effects and major sources. The federal and California state ambient air quality standards are summarized in Table 4. The federal and state ambient standards were developed independently with differing purposes and methods, although both processes attempted to avoid health-related effects. As a result, the federal and state standards differ in some cases. In general, the California state standards are more stringent. This is particularly true for ozone and particulate matter (PM,,, and PM,.,). Suspended particulate matter (PM) is a complex mixture of tiny particles that consists of dry solid fragments, solid cores with liquid coatings, and small droplets of liquid. These particles vary greatly in shape, size and chemical composition, and can be made up of many different materials such as metals, soot, soil, and dust. City of Dublin Page 39 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 "Inhalable" PM consists of particles less than 10 microns in diameter, and is defined as "suspended particulate matter" or PM10. Fine particles are less than 2.5 microns in diameter (PM2.5). PM2_5, by definition, is included in PM10. Ambient air quality. The state and federal ambient air quality standards cover a wide variety of pollutants. Only a few of these pollutants are problems in the Bay Area either due to the strength of the emission or the climate of the region. The BAAQMD maintains a network of monitoring sites in the Bay Area. The closest to the Project site is in Livermore. Table 5 summarizes violations of air quality standards at this monitoring site for the period 2005-2007. Table 5 shows that the federal ambient air quality standards for ozone is not met in the Livermore Valley, and state standards for ozone and PM10 are exceeded. Attainment status and regional air quality plan s. The federal Clean Air Act and the California Clean Air Act of 1988 require that the State Air Resources Board, based on air quality monitoring data, designate portions of the state where the federal or state ambient air quality standards are not met as "non-attainment areas." Because of the differences between the national and state standards, the designation of non-attainment areas is different under the federal and state legislation. The U. S. Environmental Protection Agency has classified the San Francisco Bay Area as a non-attainment area for the federal 8-hour ozone standard. The Bay Area was designated as unclassifiable /attainment for the federal PM10 and PM2.5 standards. Under the California Clean Air Act Alameda County is a non-attainment area for ozone and particulate matter (PM10 and PM,.,). The county is either attainment or unclassified for other pollutants. Air districts periodically prepare and update plans to achieve the goal of healthy air. Typically, a plan will analyze emissions inventories (estimates of current and future emissions from industry, motor vehicles, and other sources) and combine that information with air monitoring data (used to assess progress in improving air quality) and computer modeling simulations to test future strategies to reduce emissions in order to achieve air quality standards. Air quality plans usually include measures to reduce air pollutant emissions from industrial facilities, commercial processes, motor vehicles, and other sources. Bay Area plans are prepared with the cooperation of the Metropolitan Transportation Commission, and the Association of Bay Area Governments. Ozone Attainment Demonstrations are prepared for the national ozone standard and Clean Air Plans are prepared for the California ozone standard. City of Dublin Page 40 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Table 3. Major Criteria Pollutants Pollutant Characteristics Health Effects Major Sources Ozone A highly reactive photochemical Eye Irritation The major sources pollutant created by the action of Respiratory function ozone precursors are sunshine on ozone precursors impairment. combustion sources (primarily reactive hydrocarbons such as factories and and oxides of nitrogen. Often automobiles, and called photochemical smog. evaporation of solvents and fuels. Carbon Carbon monoxide is an odorless, Impairment of oxygen Automobile exhaust, Monoxide colorless gas that is highly toxic. It transport in the combustion of fuels, is formed by the incomplete bloodstream. combustion of wood combustion of fuels. Aggravation of in woodstoves and cardiovascular disease. fireplaces. Fatigue, headache, confusion, dizziness. Can be fatal in the case of very high concentrations. Nitrogen Reddish-brown gas that discolors Increased risk of acute Automobile and Dioxide the air, formed during combustion. and chronic respiratory diesel truck exhaust, disease. industrial processes, fossil-fueled power plants. Sulfur Dioxide Sulfur dioxide is a colorless gas Aggravation of chronic Diesel vehicle with a pungent, irritating odor. obstruction lung exhaust, oil- disease. powered power Increased risk of acute plants, industrial and chronic respiratory processes. disease. Particulate Solid and liquid particles of dust, Aggravation of chronic Combustion, Matter soot, aerosols and other matter disease and heart/lung automobiles, field which are small enough to remain disease symptoms. burning, factories suspended in the air for a long and unpaved roads. period of time. Also a result of photochemical processes. Source: Donald Ballanti, 2009 City of Dublin Page 41 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Table 4. Federal and State Ambient Air Quality Standards Pollutant Averaging Federal State Time Primary Standard Standard Ozone 1-Hour -- 0.09 PPM 8-Hour 0.075 PPM 0.07 PPM Carbon Monoxide 8-Hour 9.0 PPM 9.0 PPM 1-Hour 35.0 PPM 20.0 PPM Nitrogen Dioxide Annual Average 0.05 PPM 0.03 PPM 1-Hour -- 0.18 PPM Sulfur Dioxide Annual Average 0.03 PPM -- 24-Hour 0.14 PPM 0.04 PPM 1-Hour -- 0.25 PPM PM10 Annual Average -- 20 pg/m3 24-Hour 150 pg / m3 50 N / m3 PMZ.S Annual 15 pg/m3 12 pg/m3 24-Hour 35 pg/m3 -- Lead Calendar Quarter 1.5 pg/m3 -- 30 Day Average -- 1.5 Ng/m3 Sulfates 24 Hour 25 pg/m3 -- Hydrogen Sulfide 1-Hour 0.03 PPM -- Vinyl Chloride 24-Hour 0.01 PPM -- PPM = Farts per Million g/m 3 =Micrograms per Cubic Meter Source: California Air Resources Board, Ambient Air Quality Standards (04/01/08) http•/ /www arb.ca.gov/research/aags/aags2.pdf City of Dublin Page 42 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Table 5. Air Quality Data Summary for Livermore, 2005-2007 Pollutant Standard Days Exceeding Standard In: 2005 2006 2007 Ozone State 1-Hour 6 13 2 Ozone State 8-Hour 7 15 3 Ozone Federal 8-Hour 1 5 1 PM,o Federal 24-Hour 0 0 0 PM10 State 24-Hour 0 3 2 PMZ_5 Federal 24-Hour 0 0 0 Carbon Monoxide State/Federal 8-Hour 0 0 0 Nitrogen Dioxide State 1-Hour 0 0 0 Source: Air Resources Board, Aerometric Data Analysis and Management (ADAM), 2008. (http: /Iwww.arb.ca.gov./adam/cgi-bin/adamtop/d2wstart) Sensitive receltors. The BAAQMD defines sensitive receptors as facilities where sensitive receptor population groups (children, the elderly, the acutely ill and the chronically ill) are likely to be located. These land uses include residences, schools playgrounds, childcare centers, retirement homes, convalescent homes, hospitals and medical clinics. The closest sensitive receptors to the Project site include existing residences just north of the site (Positano) and proposed City parks on the Project site and to the west of the site. A school site is included on the east side of the Project. Greenhouse Gas Emissions. Since certification of the Eastern Dublin EIR in 1993 and the SEIRs in 2002 and 2005, the issue of contribution of greenhouse gasses to climate change has become a more prominent issue of concern as evidenced by passage of AB 32 in 2006. On March 18, 2010, amendments to the State CEQA Guidelines took effect which set forth requirements for the analysis of greenhouse gasses. The topic of the Project's contribution to greenhouse gas emissions and climate change was not analyzed in the Eastern Dublin EIR and the 2002 and 2005 SEIRs. Since the Eastern Dublin EIR and SEIRs have been certified, the determination of whether greenhouse gasses and climate change needs to be analyzed for this proposed Project is governed by the law on supplemental or subsequent EIRs (Public Resources Code section 21166 and CEQA Guidelines, Sections 15162 and 15163). Greenhouse gas and climate change is not required to be analyzed under those standards unless it constitutes "new information of substantial importance, which was not known and could not have been known at the time the previous EIR was certified as complete (CEQA Guidelines Sec. 15162 (a) (3).) Greenhouse gas and climate change impacts is not new information that was not known or could not have been known at the time the Eastern Dublin EIR and SEIRs were certified. The issue of climate change and greenhouse gasses was widely known prior to City of Dublin Page 43 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 the certification of these EIRs. The United Nations Framework Convention on Climate Change was established in 1992. The regulation of greenhouse gas emissions to reduce climate change impacts was extensively debated and analyzed throughout the early 1990s. The studies and analyses of this issue resulted in the adoption of the Kyoto Protocol in 1997. In the early and mid 2000s, GHGs and climate change were extensively discussed and analyzed in California. In 2005, the Governor issued Executive Order # 5-03-05 establishing greenhouse gas emission reduction targets in California. AB 32 was adopted in 2006. Therefore, the impact of greenhouse gases on climate change was known at the time of the certification of the Eastern Dublin EIR in May 1993 and the certification of the SEIRs in 2002 and 2005. Under CEQA standards, it is not new information that requires analysis in a supplemental EIR or negative declaration. No environmental analysis of the Project's impacts on this issue is required under CEQA. Previous CEOA documents Eastern Dublin EIR. The Eastern Dublin EIR analyzed both construction and operational impacts and contains a number of mitigation measures to reduce anticipated air quality impacts from implementation of the General Plan and EDSP project. These include: Mitigation Measure 3.11 / 1.0 reduced project construction dust impacts (IM 3.11 /A) to less than significant through measures such as watering construction sites, covering exposed construction surfaces and trucks, and cleaning construction vehicles. The cumulative impact remained significant and unavoidable. Mitigation Measures 3.11/2.0-4.0 reduced project and cumulative impacts related to vehicle emission from construction equipment (IM 3.11 /B) but not to a less- than-significant level. These mitigations require emission control from on-site equipment, completion of a construction impact reduction plan and others. Even with adherence to these mitigations, this impact remained significant and unavoidable. • Mitigation Measures 3.11/5.0-11.0 reduced mobile source emissions from ROG and NOx (IM 3.11 /Q but not to a less-than-significant level. Mitigation measures require coordination of growth with transportation plans and other measures, many of which are at a policy (not a project) level. Even with adherence to adopted mitigations, IM 3.11 / C remained significant and unavoidable. Mitigation Measures 3.11/12.0-13.0 reduced project and cumulative impacts related to stationary source emissions (IM 3.11 /E) but not to a less-than- significant level. The two adopted mitigations require reduction of stationary source emissions to the extent feasible by use of energy conservation techniques and recycling of solid waste material. Even with adherence to the two measures, stationary source emissions remained significant and unavoidable. City of Dublin Page 44 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 2002 SEIR. The 2002 Supplemental EIR found two supplemental air quality impacts, as follows: • Supplemental Impact AQ-1 found that mobile source emissions of Reactive Organic Gases (ROG), Nitrogen Oxide (NOx) and Particulate Matter (PM-10) would be significant as related to the overall EDPO Project. Even with adherence to the Eastern Dublin EIR Mitigation Measures, these emissions would be a significant and unavoidable cumulative impact. Supplemental Impact AQ-2 found that emission of carbon monoxide that would be generated from vehicle trips as a result of project buildout would not exceed local, state or federal standards for emission of carbon monoxide. This impact was therefore less-than-significant. 2005 SEIR. The 2005 Supplemental EIR found three supplemental air quality impacts, as follows: Supplemental Impact SM-AQ-1 identified supplemental impacts with respect to construction related air quality impacts and that the overall development envelope associated with the Fallon Village project was larger than analyzed in previous CEQA documents. Adherence to Supplemental Mitigation SM-AQ-1 requires more stringent measures to be undertaken by individual developers in the Fallon Village area to reduce construction air quality impacts to a less-than- significant level. Supplemental Impacts SM-AQ-2 and SM-AQ-3 found that regional air emissions associated with vehicle trips in the overall Fallon Village project area would exceed BAAQMD significance thresholds for ozone precursors. The SEIR included Supplemental Mitigation Measure SM-AQ-2 to reduce these impacts, however, the items included in this Supplemental Mitigation Measure would not reduce regional emissions below BAAQMD standards and these impacts remained significant and unavoidable. The proposed Project will be required to comply with applicable mitigation measures set forth in previous CEQA documents. Project Impacts a) Would the project conflict with or obstruct implementation of an air quality plan? No New Impact. The Eastern Dublin EIR identified Impact 3.11 /E regarding increased stationary source air emissions from future development of Eastern Dublin that would remain significant even with implementation of Mitigation Measures 3.11/12.0 and 13.0. The Eastern Dublin EIR also assumed increased development in other areas, such as the San Joaquin Valley, and related commutes to the Bay Area, and identified cumulative mobile source impact IM 3.11 / C as significant and unavoidable, even after mitigation. Upon approval of the Eastern Dublin General Plan Amendment and Eastern Dublin Specific Plan, the City adopted a Statement of Overriding Considerations for these two impacts. City of Dublin Page 45 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 The Bay Area Air Quality Management District's (ABAG) Clean Air Plan is predicated on population projections for local agencies within the District based on ABAG's Projections '09, which, in turn is based on a compilation of local agency general plan documents. Development allowed under the proposed Project would be consistent with the type and amount of development allowed under the Dublin General Plan and the Eastern Dublin Specific Plan and would contain approximately 284 fewer residential units than currently approved. There would therefore be no new or substantially more severe significant impacts with respect to conflicts with the regional air quality plan than has been previously analyzed in the prior EIRs. b) Would the project violate any air quality standards? No New Impact. Project and cumulative air emission impacts. The 1993 Eastern Dublin EIR identified emission of Reactive Organic Gases (ROG) and Nitrogen Oxides (NOx) from vehicles as a significant and unavoidable impact (Impact IM 3.11/0. Although the EIR identified several possible measures to mitigate this impact, including but not limited to implementation of a transportation demand program, encouragement of mixed-use developments and similar measures, any reduction of mobile source emissions could not be reduced to less-than-significant levels. This conclusion was reiterated in both the 2002 and 2005 SEIR documents. Construction air impacts. The current BAAQMD significance threshold for construction dust impact is based on the appropriateness of construction dust controls. If the appropriate construction controls are to be implemented, then air pollutant emissions for construction activities would be considered less-than- significant. Mitigation Measure MM 3.11 / 1.0 in the East Dublin EIR identifies the construction controls that provide reduction of air emissions during construction phases of development projects and the Project applicant will be required to adhere to these requirements. Eastern Dublin EIR Mitigation Measure 3.11 / 1.0 has been supplemented with 2005 SEIR Mitigation MeasureSM-AQ-1 to ensure that current BAAQMD construction air quality impacts are reduced to a less- than-significant level. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. c) Would the project result in cumulatively considerable air pollutants? No New Impact. See item "b." d,e) Expose sensitive receptors to significant pollutant concentrations or create objectionable odors? No New Impact The proposed Project would include primarily a residential development with a small non-residential (approximately 12,000 square foot) component that would be retail use as part of a mixed-use development. This type of use and its limited size, unlike manufacturing, industrial or similar land uses, does not generate significant pollutant concentrations or objectionable odors. Therefore, significant impacts on adjacent sensitive residence uses would not City of Dublin Page 46 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 result. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. 4. Biological Resources Environmental Setting Much of the Environmental Setting section for the Jordan Ranch property is based on a document entitled "Biological Assessment for the Jordan Ranch Development Project" dated October 2009 authored by Olberding Environmental, Inc. This document confirms the biological conditions on the Project site previously described in the prior EIRs. It also contains the proposed plan for implementing the mitigations measures required in the prior EIRs. This document is hereby incorporated by reference into this Initial Study and is available for review at the Dublin Community Development Department during normal business hours. Plant communities Seven habitat types have been identified on the Jordan Ranch site. These include: Annual grasslands. Annual grasslands consist of grass and forb species such a wild oat, soft chess, ripgut brome, thistle and similar species. Much of the property is characterized by this species type. Wetlands. A number of seasonal and perennial wetlands, seeps and others waters are present on the Project site. Perennial wetlands were found in the southwestern corner of the site, at the confluence of a number of drainage swales. Seasonal wetlands were primarily found within drainage swales as well as a number of seasonal ponds on the site. Wetland drainage Swale. A number of major northeast-southwest trending drainage swales are present on the site. Vegetation types in the swale areas include grasses and forbs, such as rabbits foot grass, Italian rye grasses, spike rush, curley dock and creeping wild rye. Three patches of Congdon's Tarplant have also been observed in the swale areas. Riparian. Riparian habitat was observed in the southwestern corner of the site at the confluence of three swales. A number of willow trees form a dense to moderately dense canopy over the lower reaches of the swale area. Stock pond/ornamental pond. Three stock ponds are found on the site within the drainage swales. A 0.29-acre pond is the largest of the ponds found on the site and is located adjacent to the former homestead, since removed. The pond is surrounded riparian vegetation, such as cattails, common rush and fiddle dock. City of Dublin Page 47 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Alkali meadow. Alkali meadow habitat is located at the northern portion of the site in association with the wetland drainage swales, Vegetation in this habitat includes salt grass, common tarweed, Mediterranean barley and similar vegetative types. Developedllandscaped. The portion of the Project site formerly occupied by the residence and associated outbuildings is characterized by non-native ornamental landscaping, such as eucalyptus trees, juniper and similar material. Special-status species and habitats The three previous EIRs which include the surrounding Fallon Village Project and Eastern Dublin area, identify a wide range of special-status plant and wildlife species. These are identified in Section 3.7 of the Eastern Dublin EIR, Section 3.3 of the 2002 Supplemental EIR and Section 4.7 of the 2005 Supplemental EIR. A more recent biological resource analysis has been prepared for the Jordan Ranch property by Olberding Environmental, Inc. in October 2009. This report is incorporated by reference into this Initial Study and is available for review at the Dublin Community Development Department during normal business hours. The 2009 Olberding report identified the presence of wetlands and waters of the State of California on the site. One special-status plant species was found on the site: Congdon's tarplant. Drainages and stock ponds on the site provide suitable breeding and forging habitat for California Red-Legged Frog (CRLF) species and such species have been identified on the site. Stock ponds also provide suitable breeding habitat for the western pond turtle, although such species were not found. Annual grassland habitat on the site provides suitable habitat for a variety protected bird/ raptor species, including golden eagle, burrowing owl, ferruginous hawk, northern harrier, while-tailed kite and Long-billed Curlew. Previous EIRs The regulatory framework for this Project includes previous EIRs and regulations for protection of biological resources. Eastern Dublin EIR. The Eastern Dublin EIR contains a number of mitigation measures to reduce anticipated impacts to biological resources from the General Plan and EDSP project. These include: Mitigation Measures 3.7/1.0-4.0 reduced impacts related to direct habitat loss (IM 3.7/A) to a less-than-significant level. These mitigations require minimization of direct habitat loss due to development, preparation of vegetation management and enhancement plans and development of a grazing management plan by the City of Dublin. • Mitigation Measure 3.7/5.0 reduced impacts related to indirect loss of vegetation removal (IM 3.7/B) to a less-than-significant level. Mitigation Measure 3.7/5.0 requires revegetation of graded or disturbed areas as quickly as possible. City of Dublin Page 48 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Mitigation Measures 3.7/6.0-17.0 reduced impacts related to loss or degradation of botanically sensitive habitats (IM 3.7/C) to a less-than-significant level. These measures require a wide range of steps to be taken by future developers to minimize impacts to sensitive habitat areas, including preserving natural stream corridors, incorporating natural greenbelts and open space into development projects, preparation of individual wetland delineations, preparation of individual erosion and sedimentation plans and similar actions. Mitigation Measures 3.7/18.0-19.0 reduced impacts related to the San Joaquin kit fox (IM 3.7/13) to a less-than-significant level. These measures require consultation with appropriate regulatory agencies regarding the possibility of kit fox on project sites and preparation of and adherence to a kit fox protection plan. • Mitigation Measure 3.7/28.0 reduced impacts related to special status invertebrates (IM 3.7/S) to a less-than-significant level. This measure requires completion of special surveys for individual species prior to site disturbance. The Eastern Dublin EIR also addresses potential impacts and mitigation measures regarding bald eagle, peregrine falcons, red-legged frog, California tiger salamander, western pond turtle the prairie falcon, northern harrier, black-shouldered kite, sharp- shinned hawk, Cooper's hawk, short-eared owl and California horned lizard, as well as other protected species. The proposed Project will be required to adhere to applicable biological resource mitigation measures contained in the Eastern Dublin EIR. 2002 Supplement. This EIR identified a large number of supplemental biological mitigation measures for the entire Fallon Village project area, identified as Supplemental Mitigation Measures SM-13I0-1 through SM-BIO-45. The supplemental mitigation measures require completion of rare plant and wildlife surveys, preparation of a Resource Management Plan (RMP), avoid or replace wetlands. 2005 Supplement. This Supplement identifies additional supplemental impacts and mitigation measures, as listed below. A number of the supplemental mitigation measures are revisions to mitigation measures contained in earlier EIRs. Supplemental mitigation measures are: Mitigation Measure SM-13I0-1 requires the restoration or enhancement of riparian habitat at a 3:1 ratio (on an acreage basis), preferably within the proposed aquatic and buffer zone or corridor zone management areas on-site. If mitigation within the Project area is not feasible, then the developer shall mitigate impacts to central coast riparian scrub through the restoration or enhancement of riparian habitat at a 3:1 ratio (measured by acreage) at an off-site location acceptable to the City. City of Dublin Page 49 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 • Mitigation Measure SM-BIO-2 requires that if avoidance is infeasible, then mitigation lands providing similar or better habitat for CRLF shall be preserved and protected in perpetuity. • Mitigation Measure SM-BIO-3 requires individual developers of parcels to create and/or enlarge suitable breeding ponds at a 2:1 ratio, in or adjacent to areas currently supporting CTS and with sufficient surrounding upland habitat to provide a high likelihood of establishment and persistence of a breeding population. • Mitigation Measure SM-BIO-4 requires developers of individual parcels to acquire, preserve, and manage suitable upland habitat at a 1:1 ratio in or adjacent to areas currently supporting CTS and within 2200 feet of a suitable breeding pond. • Mitigation Measure SM-BIO-1 (revised) requires special steps to be taken by individual developers if special-status plants cannot be avoided during project construction. • Mitigation Measure SM-BIO-2 (revised) requires that during the breeding season (February 1-August 31) prior to submittal of Stage 2 development proposals for a particular parcel, or during a subsequent breeding season but prior to the initiation of construction, a survey shall be conducted according to CDFG protocols to determine whether Burrowing Owls are present, and if present, the number of nesting pairs of Burrowing Owls present on the parcel. Mitigation Measure SM-BIO-3 (revised) requires pre-construction surveys for burrowing owls be conducted by a qualified biologist prior to any ground disturbance between September 1 and January 31. Mitigation Measure SM-BIO-4 (revised) requires that if construction is scheduled during the burrowing owl nesting season (February 1- August 31), pre- construction surveys should be conducted on the entire site-specific Project area and within 500 feet of such Project area prior to any ground disturbance. A minimum buffer (at least 250 feet) shall be maintained during the breeding season around active burrowing owl nesting. • Mitigation Measure SM-BIO-5 (revised) requires that if destruction of occupied (breeding or non-breeding season) burrowing owl burrows, or any burrows that were found to be occupied during pre-construction surveys, is unavoidable, a strategy will be developed to replace such burrows by enhancing existing burrows or creating artificial burrows at a 2:1 ratio. The proposed Project will be required to comply with applicable mitigation measures set forth in previous EIRs and the Eastern Dublin Comprehensive Stream Restoration Program. City of Dublin Page 50 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Resource Management Plan (RMP). Consultants working for the City of Dublin completed a Resource Management Plan in 2004. Completion of the RMP was required as a result of Supplemental Mitigation Measure SM-13I0-1 contained in the 2002 Supplemental EIR. The RMP evaluated potential impacts to sensitive biological resources on the Eastern Dublin Property Owners' area, an approximately 1120-acre area that was analyzed in both the 2002 and 2005 Supplemental EIRs. The RMP includes a comprehensive analysis of sensitive plant and wildlife species within the area, potential habitat for such species and the presence of wetlands and other waters. The RMP also includes a constraints analysis to guide future development of properties included in the RMP study area. Project Impacts a) Have a substantial adverse impact on a candidate, sensitive, or special-status species? No New Impact. The Eastern Dublin EIR identified twelve special status plant species, seventeen special status amphibian, reptile, bird and mammal species, and ten special status invertebrate species which could potentially occur within the entire Eastern Dublin planning area (Tables 3.7-1 and 3.7-2, pp. 3-7.19-21.) Since certification of the Eastern Dublin EIR, new special status species have been addressed in the 2002 and 2005 SEIR documents. No new species have been identified on the Project site as part of this Initial Study and no supplemental impacts would result. As identified in the previous EIRs and the most recent Olberding Report and WRA peer review letter (Appendix 1), approval and implementation of the proposed Project could impact individual species and habitats for Contra Costa Goldfields, a federally listed endangered plant species, California Tiger Salamander, California red-legged frog, Western pond turtle, Burrowing owl, Great Homed owl, Red-Shouldered hawk, ferruginous hawk, American Kestrel, loggerhead shrike and American badger. The Eastern Dublin Specific Plan includes policies to protect special status species (Policies 6-17 and 6-20). The proposed development Project will adhere to the Specific Plan policies and all previously adopted mitigation measures, as applicable. As recommended in the WRA peer review letter, no additional preconstruction surveys for California Tiger Salamander and California Red-Legged Frog are needed since presence of these species on the site have been confirmed. However, as a condition of approval which implements the mitigation measures in the prior EIRs for protection of special status species and the applicant agrees to, the WRA report recommends a pre-construction survey for Lawrence's Goldfinch, a USFWS bird species of special concern. As identified in previous EIRs for the Eastern Dublin area, impacts associated with loss or degradation of botanically sensitive habitats on a Project and cumulative level (Eastern Dublin EIR Impact 3.7/C, and 2002 SEIR Impact BIO 3) will remain Significant and Unavoidable for this Project as well. There would City of Dublin Page 51 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. b, c) Have a substantial adverse impact on riparian habitat or federally protected wetlands? No New Impact. The 2005 SEIR and RMP identify ponds and wetland area on the Jordan Ranch property. Implementation of the proposed Project would impact these wetland areas, associated riparian habitat and special-status species within and adjacent to these wetland areas. Consistent with adopted Mitigation Measures in previous CEQA documents, the Eastern Dublin Specific Plan, the Project applicant will provide a combination of preserved on-site wetlands and suitable replacement wetland habitat and foraging area off of the Project site. The Project applicant will also obtain necessary federal, state and local permits in order to undertake this mitigation plan. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. d) Interfere with movement of native fish or wildlife species? No New Impact. The existing major drainage northeast-southwest trending drainage swale on the Project site would remain and be enhanced to ensure that existing movement of wildlife species would not be blocked. This would be a less-than-significant impact. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. e, f) Conflict with local policies or ordinances protecting biological resources or any adopted Habitat Conservation Plans or Natural Community Conservation Plans? No New Impact. The Project Property contains a number of trees that would be removed when the property is graded. Prior to commencement of grading activities, the Project applicant will adhere to the City of Dublin Heritage Tree Ordinance and replace heritage trees lost at a ratio consistent with the City's Heritage Tree Ordinance. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. 5. Cultural Resources Environmental Setting The 1993 Eastern Dublin EIR and the two Supplemental EIRs contain a comprehensive listing of historic, archeological, Native American and other cultural resources in the overall Eastern Dublin area. No structures on the Jordan property are identified as historic sites in the Eastern Dublin EIR (reference Chapter 3.9, Cultural Resources). The Jordan Ranch site does not contain any structures, so that no above ground historic resources are present on the site. City of Dublin Page 52 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 As required by Supplemental Mitigation Measure SM-CUL-3 contained in the 2005 SEIR, a site-specific cultural resources assessment was prepared by the firm of Basin Research Associates dated June 9, 2009. The Basin Report is incorporated by reference into this Initial Study and is available for review at the Dublin Development Services Department during normal business hours. The Basin Report summarized comprehensive research on Site CA-Ala-508H on the Project site, including a field visit and subsurface testing using a backhoe. The Report found a less-than-significant quantity of subsurface cultural material at this identified site. Previous archeological materials reported in the 2005 SEIR on the Jordan Ranch site were not found. The one artifact found (a slab metate) was likely a former surface artifact that was buried through natural or mechanical means. The Basin Report did not recommend additional testing, however, the following recommendations should be included as conditions of Project approval which implements the mitigation measures in the prior EIRs for protection of cultural resources and the applicant agrees to: a) Spot monitoring of construction excavations shall be undertaken during site clearing and excavations of up to five feet in depth. The monitoring program shall be at the discretion of the Project archeologist. b) Project grading specifications shall include warning language to alert the contractor as to the potential for buried cultural resources. c) A minimum of one meeting shall be held between the Project archeologist and grading contractors for a briefing on procedures to be followed in the event of discovering a cultural artifact. d) If any cultural artifacts are exposed or discovered during site clearing or grading, operations shall cease within a 30-foot radius of the find and the Project archeologist consulted for evaluation and further recommendations. Possible recommendations could include further evaluation, collection, recordation and analysis of such find, followed by completion of a professional report. e) Treatment of any Native American burials found during construction shall be in accordance with the requirements of the State of California Public Resources Code, in consultation with the Native American Heritage Commission. Previous EIRs. The Eastern Dublin EIR contains a number of mitigation measures to reduce anticipated impacts to cultural resources from the General Plan and EDSP project. Mitigation measure applicable to this Project include: Mitigation Measures 3.9/1.0-4.0 reduced impacts that could be caused as a result of disruption or destruction of identified prehistoric resources. These measures require approval of a program for testing for presence or absence of midden deposits and, if significant deposits are found, recordation of such resources on State survey forms, and retention of a qualified archeologist to develop a protection plan for such resources in accordance with CEQA. City of Dublin Page 53 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Mitigation Measures 3.9/5.0-6.0 reduced impacts related to the disruption or destruction of unrecorded prehistoric resources (IM 3.913) to a less-than- significant level. The 2002 Supplemental EIR sets forth no new cultural resource impacts or mitigation measures. The 2005 Supplemental EIR identified Supplemental Impact CUL-3 regarding cultural resource site C-ALA-508H on the Jordan site. Supplemental Mitigation Measure SM- CUL-3 requires a detailed cultural resources assessment for the identified cultural site prior to the approval of a Stage 2 Development Plan on the Jordan Ranch. The assessment shall determine of the cultural site is eligible for listing on the California Register of Historical Resources and any recommendations made in the cultural resources assessment shall be incorporated into the Stage 2 Development Plan as conditions of approval. This assessment has been performed by Basin Research Associates as described above. The proposed Project will be required to comply with applicable cultural resource mitigation measures contained in previous EIRs. Project Impacts a) Cause substantial adverse change to significant historic resources? No New Impact. No historic resources exist on the Jordan Ranch based on a historic resources survey conducted as part of the Eastern Dublin EIR, so there would no impacts with regard to historic resources on the site that have not been analyzed in previous EIRs. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. b, c) Cause a substantial adverse impact or destruction to archeological or paleontological resources or human remains? No New Impact. The Eastern Dublin EIR identifies a remote but potentially significant possibility that construction activities, including site grading, trenching and excavation, may uncover significant archeological and/or paleontological resources on development sites. Mitigation Measures 3.9/1.0 through 3.9/4.0 (page 3.9-6 - 3.9-7) require subsurface testing for archeological resources if such are found during site disturbance; recordation and mapping of such resources; and development of a protection program for resources which qualify as "significant" under Appendix K of the CEQA Guidelines. Mitigation Measures 3.9/5.0 and 3.9/6.0, described above, also were adopted to address Eastern Dublin IM 9/B, the potential disruption of any previously unidentified prehistoric resources and would apply to the Project as may be appropriate. The Basin Report completed for the proposed Project did not identify the presence of significant archeological resources on the Project site, although a number of recommendations are included in the Report (listed above) that will City of Dublin Page 54 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 made conditions of Project approval which implement the mitigation measures in the prior EIRs for protection of cultural resources and the applicant agrees to. No new or substantially more severe impacts with regard to archeological or paleontological impacts have been identified than were previously analyzed in the prior EIRs. d) Disturb any human remains, including those interred outside of a formal cemetery? No New Impact. A remote possibility exists that historic or pre-historic human resources could be uncovered on the Jordan Ranch during grading and construction activities. At the time the Eastern Dublin EIR was certified, the potential for impacts on unknown and unsurveyed human remains was not a separate CEQA checklist item, as in current Appendix G of the CEQA Guidelines. Former Appendix K, Archeological Impacts, specifically addressed human remains, which provisions now have been incorporated into CEQA Guidelines Section 15064.5 and apply to the Project pursuant to Mitigation Measures 3.9/5.0 and 6.0. However, this potential impact was analyzed as part of the 2005 SEIR and addressed by Supplemental Mitigation Measure SM-CUL-1. Recommendation of Item "e" of the Basin Report, above, also applies to the potential discovery of Native American resources. No new or more substantially severe impacts are anticipated with regard to disturbance of human remains than have been previously identified and no new mitigation measures are required. 6. Geology and Soils Environmental Setting Soils, geologic and seismic conditions were analyzed in Chapter 3.6 of the Eastern Dublin EIR and reviewed in the Initial Study for the 2002 SEIR. As a result of the 2002 review, it was determined that soils, geologic and seismic conditions did not present any new potentially significant impacts when compared with the Eastern Dublin EIR and therefore not reassessed in detail in the 2002 SEIR. No new or more severe soil or geotechnical impacts were identified on the Jordan Ranch site in the 2005 SEIR. Topography on the Jordan Project site is characterized by low to moderately sloping hills that are divided by three drainage swales. Swales trend from northeast to southwest with a generally flatter area in the southwest corner of the site which formerly housed a farmstead complex, since removed. Previous EIRs City o -Dublin Page 55 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Eastern Dublin EIR. The Eastern Dublin EIR contains a number of mitigation measures to reduce anticipated impacts related to Soils, Geology and Seismicity from the General Plan and EDSP project. These include: • Mitigation Measure 3.6/1.0 reduced impacts related to primary effects of earthquake ground shaking (IM 3.6/B) but not to a less-than-significant level. This mitigation measure requires that future structure and infrastructure facilities be designed to applicable local and state building codes. Mitigation Measures 3.9/2.0-8.0 reduced impacts related to the secondary effects of earthquake ground shaking (IM 3.9/Q to a less-than-significant level. Mitigation measures mandate building setbacks from landslides, stabilization of unstable land forms, removal and reconstruction of unstable soils, use of engineered retaining structures, use of appropriately designed and engineered fill, and design of structures to account of potential soil failure. • Mitigation Measures 3.6/9.0-10.0 reduced impacts related to substantial alteration to landforms to a less-than significant level (IM 3.6/D). Mitigations require minimal grading plans with minimal cuts and fills and careful siting of homes and improvements to avoid excessive grading. • Mitigation Measures 3.6/14.0-16.0 reduced impacts related to expansive soils (IM 3.6/H) to a less-than-significant level. Mitigation measures require formulation of site-specific designs to overcome expansive soils, reducing the amount of moisture in the soil and by appropriate foundation and pavement design. Mitigation Measures 3.6/17.0-19.0 reduced impacts related to natural slope stability (IM 3.6 /1) to a less-than-significant level. Mitigation measures mandate formulation of use of site-specific designs based on follow-on geotechnical reviews of individual developments, limiting the location of improvements on downslopes of unstable soils, removal/ reconstruction of potentially unstable slope areas and installation of surface and subsurface slope drainage improvements. Mitigation Measures 3.6/20.0-26.0 reduced impacts related to cut and fill slope stability (IM 3.6/J) to a less-than-significant level. These measures include developing grading plans for hillside areas that minimize grading and associated cuts and fills, ensuring that grading plans comply with appropriate building codes, utilizing keys and benches as part of grading to ensure slope stability and minimizing use of unreinforced fill slopes, appropriate compaction of fill areas and on-going maintenance of slope drainage areas. • Mitigation Measure 3.6/27.0 reduced the impact related to short-term construction-related erosion and sedimentation (IM 3.6/K) to a less-than- significant level. This measure includes limiting timing of construction to avoid the rainy season and implementing a number of other specific erosion control measures. City of Dublin Page 56 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 • Mitigation Measure 3.6/28.0 reduced the impact related to long-term erosion and sedimentation (IM 3.6/L) to a less-than-significant level. This measure includes installation of erosion control facilities into individual development projects, including sediment catch basins, creek bank stabilization, revegetation of graded areas and similar measures. 2005 Supplemental EIR. The 2005 SEIR included one additional mitigation measure. Supplemental Mitigation Measure GEO-1 deals with grading of steeper slopes on properties north of the Jordan Ranch and does not apply to this Project. The proposed Project will be required to comply with applicable soil, geologic and seismic mitigation measures contained in the Eastern Dublin EIR. Project Impacts a) Expose people or structures to potential substantial adverse impacts, including loss, injury or death related to ground rupture, seismic ground shaking, ground failure, or landslides? No New Impact. Although the Project is not located within an Earthquake Fault Zone (formerly Alquist-Priolo Zone), the Eastern Dublin EIR identified that the primary and secondary effects of ground shaking (Impacts 3.6/B and 3.6/C) could be potentially significant impacts. With implementation of Mitigation Measure 3.6/1.0 the primary effects of ground-shaking are reduced to a less-than-significant level by using modern seismic design for resistance to lateral forces in construction, which would reduce the potential for structure failure, major structural damage and loss of life. Mitigation Measures 3.6/2.0 through 3.6/7.0 contained in the Eastern Dublin EIR will be implemented to reduce the secondary effects of ground shaking on proposed project improvements to a less-than-significant level. Adherence to Mitigation Measures 3.6/20.0 through 3.6/26.0 by the Project developer will ensure that effects of landsliding and ground failure on proposed Project improvements will be less-than-significant. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. b) Is the site subject to substantial erosion and/or the loss of topsoil? No New Impact. Construction of the proposed project improvements on the Jordan Ranch would modify the existing ground surface and alter patterns of surface runoff and infiltration and could result in a short-term increase in erosion and sedimentation caused by grading activities (see Eastern Dublin EIR Impact 3.6 / K). Long-term impacts could result from modification of the ground-surface and removal of existing vegetation (Eastern Dublin EIR Impact 3.6/Q. The Project applicant will be required, as a standard condition of Project approval by the City of Dublin, to prepare and implement an erosion control plan, consistent City of Dublin Page 57 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 with City of Dublin and Regional Water Quality Control Board standards. With implementation of Mitigation Measures contained in the Eastern Dublin EIR and an erosion control plan, impacts related to substantial erosion and loss of topsoil would be less-than-significant. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. c,d) Is the site located on soil that is unstable or expansive or result in potential lateral spreading, liquefaction, landslide or collapse? No New Impact. Portions of the Project site are underlain by soil types with high shrink-swell potential, which have the potential to cause damage to foundations, slabs, and pavement (Eastern Dublin EIR Impact 3.6/1-1). With adherence to the mitigation measures contained in the Eastern Dublin EIR, potential shrink-swell impacts would be less-than-significant. Consistent with applicable mitigation measures, the Project developer has retained a qualified soils and geotechnical consultant to prepare a site-specific analysis of the Project site. Recommendations included in the Project soils report will be reviewed by the City of Dublin Public Works Department and will be included in grading and constructions plans and specifications to comply with Eastern Dublin EIR mitigation measures and EDSP policies regarding soil hazards. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. e) Have soils incapable of supporting on-site septic tanks if sewers are not available? No New Impact. Proposed residences on the Project site would be connected to sanitary sewers provided by DSRSD, so there would be no impacts with regard to septic systems. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. 7. Hazards and Hazardous Materials Environmental Setting The 2005 SEIR, prepared for the Fallon Village Project area of which the Jordan Ranch Property site is a component, identified a number of Supplemental Impacts and Supplemental Mitigation Measures for individual properties included in the Fallon Village project area. Supplemental Impact HAZ-2 identified the possibility of soil and/or groundwater contamination and the exposure of individuals from release of such materials, including portions of the Jordan Property. Supplemental Mitigation Measure HAZ-3b requires remediation of contamination on a number of sites within the Fallon Village area, including the Jordan Ranch. In addition, Supplemental Mitigation Measure 3b requires the Jordan Ranch owner to inform the Alameda County Environmental Health Services Department of an unauthorized release of fuel hydrocarbons (diesel and gasoline) in the vicinity of a removed underground storage tank on the property. Additional subsurface City of Dublin Page 58 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 investigation was then required to identify the extent of possible contamination and to evaluate the potential for groundwater contamination. Also, the supplemental mitigation measure required completion of a Phase II Environmental Site Assessment to determine if any soil or groundwater contamination exists near former barn structures.. A Phase I & II Environmental Site Assessment has been prepared for the Jordan Ranch by the firm of ATC Associates, Inc., dated June 9, 2008. The report is hereby incorporated by reference into this Initial Study and the report is available for review at the Dublin Development Services Department during normal business hours. Previous EIRs The 2005 SEIR contains the following supplemental mitigation measures related to hazards and hazardous materials. Supplemental Mitigation SM-HAZ-1 requires preparation of site-specific analysis to determine the presence of lead based paint and/or asbestos in structures to be demolished in the Fallon Village area. Supplemental Mitigation HAZ-2 requires the removal of identified hazardous conditions on sites in the Fallon Village area prior to future development on properties. Supplemental Mitigation SM-HAZ-3b requires remediation of contaminated areas of the Jordan Ranch property. In addition, the Jordan Ranch owner shall inform the Alameda County Environmental Health Department of an unauthorized release of fuel hydrocarbons (gasoline and diesel) in the vicinity of an underground storage tank that had been previously removed. Additional subsurface investigations are required to determine the lateral and horizontal extent of any potential contamination and, if found, is required to be removed as directed by the Alameda County Environmental Health Department. The additional investigations were also required to determine the extent of contamination caused by diesel fuel storage drums, weed killer and other contaminants in former barn structures on the Jordan site. • Supplemental Mitigation SM-HAZ-3f requires abandonment and destruction of any private wells on the site. • Supplemental Mitigation SM-HAZ-3g requires septic systems and leach fields within the Fallon Village project area to be pumped out and removed under permits from the Alameda County Environmental Health Department. Potential hazard and hazardous material impacts were not analyzed in either the 1993 Eastern Dublin EIR or the 2002 SEIR. The proposed Project on the Jordan Ranch Property will be required to adhere to the above mitigation measures. City of Dublin Page 59 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Project ImRacts a) Create a significant hazard to the public or the environment through the routine transport, use or disposal of hazardous materials? No New Impact. There would be no impact with regard to transport, use or disposal of hazardous materials, since the proposed project involves construction of a primarily residential development on the Jordan Ranch Property. There would be no use, storage or transport of significant quantities of hazardous materials associated with the proposed development. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. b) Create a significant hazard to the public or the environment through reasonably foreseeable upset and accident conditions involving the release of hazardous materials into the environment? No New Impact. The 2005 SEIR and supplemental environmental site investigations identified the presence of contaminated soils and groundwater on the site as a result of previous agricultural operations on the site. To comply with 2005 Supplemental Mitigation Measures, the Project Applicant has completed a Phase I and II Environmental Site Assessment and has contacted the Alameda County Environmental Health Department. Supplemental Mitigation SM-HAZ 3b requires remediation of identified contaminated areas. In order to implement this Mitigation Measure, a condition of Project approval will require the Applicant to complete implementation of remediation of contaminants on the site and secure a closure letter from the Alameda County Environmental Health Department or equivalent agency with jurisdiction prior to commencement of grading activities. This impact would therefore be less-than-significant and no new or substantially more severe impacts with respect to release of hazardous materials have been identified in this Initial Study than has been previously analyzed in the prior EIRs. c) Emit hazardous materials or handle hazardous materials or acutely hazardous materials, substances, or waste within one-quarter mile of an existing or proposed school? No New Impact. Approval and implementation of the proposed Project would have a less- than-significant impact with respect to this topic. A school site is shown on the Exhibit 3, the proposed Stage 2 Development Plan. However, the remainder of the Project site would be remediated for soil and groundwater contamination prior to the development of the future school facility. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. d) Is the site listed as a hazardous materials site? No New Impact. No properties comprising the Project area are listed on the State of California Department of Toxic Substances Control as an identified hazardous site as of April 15, 2010. There is therefore no impact with regard to this topic. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. e,f) Is the site located within an airport land use plan of a public airport or private airstrip? No New Impact. The Project site is located north of the Livermore Airport and outside City of Dublin Page 60 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 of any airport safety zone and the Airport Influence Area (AIA) of the airport. However, the Project site does lie within the airport height referral area of the airport, as documented on Figure 3.1-D. Pursuant to Supplemental Noise Mitigation Measure SM-NOISE-1 contained in the 2005 SEIR, Jordan Ranch Project developers will be required to provide notification to future purchases of dwellings about the presence of Livermore Airport. Adherence to this supplemental measure reduced impacts related to the Livermore Airport to a less- than-significant level. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. g) Interference with an emergency evacuation plan? No New Impact. The proposed Project would include the construction of a primarily residential development on private land. No emergency evacuation plan would be affected since no roadways would be blocked. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. h) Expose people and structures to a significant risk of loss, injury or death involving wildland fires or where residences are intermixed with wildlands? No New Impact. The Project site is located in a portion of the Eastern Dublin planning area with undeveloped properties to the south and east of the site. However, this impact was analyzed in the Eastern Dublin EIR and, with adherence to mitigation measures contained in the Eastern Dublin EIR, impacts related to wildland fire would be less-than-significant. These mitigation measures include Mitigation Measure 3.4/6.0, requiring project developers to assist in funding new fire stations and other facilities in Eastern Dublin, Mitigation Measure 3.4/9.0 requiring use of non- combustible roof materials, and maintaining water fire flow and pressure, establishing low-fuel buffers between structures and wildland areas and installing fire sprinklers in buildings. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. 8. Hydrology and Water Quality Environmental Setting Local surface water The Project site is located within the Arroyo Las Positas watershed, a sub-basin of the Alameda Creek watershed. This watershed drains westerly into and through the Arroyo Mocho to the Arroyo de la Laguna, which discharges into Alameda Creek near Sunol and ultimately into San Francisco Bay near Union City. The Project area is located within the jurisdiction of Zone 7 of the Alameda County Flood Control and Water Conservation District (Zone 7). Zone 7 provides maintenance of regional drainage facilities within this portion of Alameda County. City of Dublin rage w Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Surface water quality Water quality in California is regulated by the U.S. Environmental Protection Agency's National Pollution Discharge Elimination System (NPDES), which controls the discharge of pollutants to water bodies from point and non-point sources. In the San Francisco Bay area, this program is administered by the San Francisco Bay Regional Water Quality Control Board (RWQCB). Federal regulations issued in November 1990 expanded the authority of the RWQCB to include permitting of stormwater discharges from municipal storm sewer systems, industrial processes, and construction sites that disturb areas larger than one acre of land area. The City of Dublin is a co-permittee of the Alameda County Clean Water Program, which is a coordinated effort by local governments in Alameda County to improve water quality in San Francisco Bay. In 1994, the RWQCB issued a set of recommendations for New and Redevelopment Controls for Storm Water Programs. These recommendations include policies that define watershed protection goals, set forth minimum non-point source pollutant control requirements for site planning, construction and post-construction activities, and establish criteria for ongoing reporting of water quality construction activities. Watershed protection goals are based on policies identified in the San Francisco Bay Basin Water Quality Control Plan (Basin Plan), and the entire program relies on the implementation of Best Management Practices to limit pollutant contact with stormwater runoff at its source and to remove pollutants before they are discharged into receiving waters. The California Stormwater Quality Task Force has published a series of Best Management Practices handbooks for use in the design of source control; and treatment programs to achieve the water quality objectives identified by the Basin Plan for the beneficial uses of surface waters, groundwaters, wetland and marshes. Surface water quality is affected by a number of pollutants generated from existing structures, parking areas and open space uses on the project area, including but not limited to petrochemicals (oil and grease), yard and landscape chemicals (herbicides, pesticides and fertilizers), and similar sources. Flooding The Project site lies outside of a 100-year flood hazard area as mapped by the Federal Emergency Management Agency FEMA (Flood Insurance Rate Map Community Panel # 06001CO328G and 06001C0329G). More detailed information on hydrology and surface water quality for the Fallon Village area (that includes the Jordan Ranch) is contained in Chapter 4.4 of the 2005 SEIR. Previous EIRs Eastern Dublin EIR. The Eastern Dublin EIR contains a number of mitigation measures to reduce anticipated impacts related to hydrology and storm drainage from the General Plan and EDSP project. These include: City of Dublin rage bZ Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Mitigation Measures 3.5/44.0-48.0 would reduce impacts related potential flooding due to increased runoff into creeks (IM 3.5/Y) to a less-than-significant level. These mitigation measures requires new storm drainage facilities as part of new development, requires developers to prepare storm drain plans for individual development projects and requires new flood control facilities to alleviate downstream flooding potential. Mitigation Measures 3.5 / 51.0 - 55.0 would reduce impacts related to non-point source pollution (IM 3.5 / AA) to a less-than-significant level. These mitigation measures mandate that specific water quality investigations be submitted as part of development projects and that the City should develop community-based programs to educate residents and businesses to reduce non-point source pollution. 2005 SEIR. The 2005 SEIR identified two Supplemental Impacts and Mitigation Measures related to hydrology and water quality: Supplemental Impact SD-1 found that surface water quality standards had been updated from regulations in effect when the 1993 Eastern Dublin EIR was certified. Mitigation Measure SD-1 requires that properties in the Stage 1 Development Plan adhere to water quality source control and hydrologic design recommendations contained in the February 2005 ENGEO report. These recommendations relate to limiting the volume and quantity of stormwater runoff entering local and regional drainage facilities. Supplemental Mitigation Measure SD-2 requires that individual development projects in the Fallon Village area comply with hydromodification provisions contained in the Alameda County Clean Water Program. If no Alameda County Clean Water Program permit has been approved before individual development proposals are approved by the City of Dublin, applicants may be required to submit hydrologic and hydraulic analyses to be reviewed and approved by the City of Dublin and Zone 7. Payment of Zone 7 fees is also required. The issue of hydrology was not assessed in the 2002 SEIR. The proposed Project on the Jordan Ranch Property will be required to adhere to the above mitigation measures. Project Impacts a) Violate any water quality standards or waste discharge requirements? No New Impact. Adherence to mitigation measures set forth in the Eastern Dublin EIR, the 2005 SEIR and the Alameda County Clean Water Program as enforced by the City of Dublin will ensure that the proposed Project would not violate water quality standards or any waste discharge requirements. The Project developer proposes to construct a water quality basin in the southwestern portion of the site to intercept storm water and cleanse contaminants and erosion from runoff prior to entering City of Dublin Page 63 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 the G-3 facility. The water quality basin would be constructed to City of Dublin, Zone 7 and Regional Water Quality Control Board standards and specifications. A final water quality plan will be approved for this Project by the City prior to commencement of any grading or construction, whichever occurs first. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. b) Substantially deplete groundwater recharge areas or lowering of water table? No New Impact. The Project site has been slated for future urban uses since adoption of the 1993 Eastern Dublin General Plan Amendment and Specific Plan, and not for open spaces or water recharge purposes. Similarly, proposed residential uses on the Project Site would rely on imported water sources provided by Zone 7 and the Dublin San Ramon Services District, not locally pumped groundwater. No supplemental impacts would therefore occur with regard to this topic. As identified in Eastern Dublin EIR Mitigation Measure 3.5/49.0, and as identified in subsection "a," above, the Project will include features to minimize surface and groundwater pollution, consistent with Alameda County Clean Water Program and City of Dublin standards. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. c) Substantially alter drainage patterns, including streambed courses such that substantial siltation or erosion would occur? No New Impact. New impervious surfaces would be added to the Project site to accommodate new dwellings, roadways, driveways and similar surfaces. Although the existing main drainage swale would be used for primary Project drainage, existing drainage patterns would be slightly modified based on proposed development to channelize existing sheet flow into the main swale and then transported to Zone Ts G-3 box culvert just west of Fallon Road and north of the I-580 freeway. As identified in subsection "a," a water quality basin would be constructed on the site to minimize impacts related to siltation and erosion, consistent with the Alameda County Clean Water Program. Adherence to Mitigation Measure 3.5/46.0 contained in the Eastern Dublin EIR would reduce changed drainage patterns to a less-than-significant level. This mitigation measure requires the Project developer to prepare a Master Drainage Plan for the proposed Project prior to commencement of construction. Adherence to mitigation measures contained in the Eastern Dublin EIR and the 2005 SEIR will reduce impacts from developments such as the proposed Project related to siltation and erosion to a less-than-significant level. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. City of Dublin Page 64 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 d) Substantially alter drainage patterns or substantially increase surface water runoff that would result in flooding, either on or off the project site? No New Impact. The Eastern Dublin EIR and 2005 SEIR identified a number of mitigation measures to which the proposed Project must conform to reduce drainage and flooding impacts to a less- than-significant level. These include preparation of a Master Drainage Plan for the Project, as required by Eastern Dublin EIR Mitigation Measure 3.5 /46.0 and Project developer contributions to funding regional drainage improvements, as required by Mitigation Measures 3.5/47.0 and 48.0. Payment of local and regional drainage fees to the City of Dublin and Zone 7 will meet the requirements of these mitigation measures. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. e) Create stormwater runoff that would exceed the capacity of drainage systems or add substantial amounts of polluted runoff? No New Impact. The ability of downstream drainage facilities to accommodate additional quantities of stormwater runoff from the Project site have been addressed in previous EIRs and the proposed Jordan development Project will comply with applicable mitigation measures to ensure that drainage impacts will be reduced to a less-than-significant level. Consistent with Eastern Dublin EIR Mitigation Measure 3.5/46.0, the Project developer's civil engineer is required to prepare a Master Plan of Drainage to accommodate increased Project stormwater runoff. And consistent with Eastern Dublin EIR Mitigation Measures 2.6/47.0 and 48.0, the Project developer will be required to pay regional drainage fees to assist in funding backbone drainage facilities identified in the Eastern Dublin Specific Plan. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. f) Substantially degrade water quality? No New Impact. This is a less-than-significant issue and has been addressed above in item "a." g) Place housing within a 100-year flood hazard area as mapped by a Flood Insurance Rate Map? No New Impact. The Project site lies outside of a 100-year flood hazard zone as mapped by FEMA. This is identified in the Environmental Setting section of this Initial Study. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. h, i) Place within a 100-year flood hazard boundary structures that impeded or redirect flood flow, including dam failures? No New Impact. Refer to item "g," above. j) Result in inundation by seiche, tsunami or mudflows? No New Impact. The Project Site is located well inland from San Francisco Bay or other major bodies of water to be impacted by a tsunami or seiche. Adherence to mitigation measures contained in the Eastern Dublin EIR as identified in subsection 6 of this Initial Study (Geology and Soils) will ensure that impacts from mudflows would be less-than-significant. These measures include Eastern Dublin Mitigation Measure 3.6/20.0, that requires City of Dublin Page 65 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 grading plans that minimize areas to be graded, Mitigation Measure 3.6/22.0, requiring completion of site specific geotechnnical investigations and installation of retaining structures and Mitigation Measure 3.6/23.0, requiring placements of subsurface keys and benches to stabilize graded slopes. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. 9. Land Use and Planning Environmental Settine Existing land uses The Project site is currently vacant and contains no buildings. The site is used for cattle grazing. Regulatory setting Land use on the Project site is regulated by the Eastern Dublin General Plan and Eastern Dublin Specific Plan (EDSP), both of which were adopted in 1993. The General Plan and EDSP presently designate the Project site for a combination of Low Density Residential, Medium Density Residential, Medium-High Density Residential, Neighborhood Commercial, Community Park, Neighborhood Park, Neighborhood Square, Open Space, Semi-Public and an Elementary School site. The applicant has requested City of Dublin approval of a Stage 2 Development Plan for the Project site as well as a Site Development Review (SDR) permit and a Vesting Subdivision Map to implement the current General Plan, Eastern Dublin Specific Plan and approved Stage 1 Planned Development Plan land use designations. Approval of the requested land use entitlements would provide for a reduction in the amount of development on the site of approximately 284 dwellings. Project Impacts a) Physically divide an established community? No New Impact. The Project site is vacant. Development of dwellings and other land uses on the site as proposed in the Stage 2 Development Plan would not divide any established communities on the site and no impact would result. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. b) Conflict with any applicable land use plan, policy or regulation? No New Impact. Proposed land uses are fully consistent with the City of Dublin General Plan and Eastern Dublin Specific Plan. The applicant will be required to comply with all other land use policies and regulations as a condition of Project approval. No impact would result. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. City of Dublin Page 66 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 c) Conflict with a habitat conservation plan or natural community conservation plan? No New Impact. The Project site is not located within a habitat conservation plan area or natural community conservation plan area. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. 10. Mineral Resources Environmental Setting No significant quantities of mineral resources exist on the Project site according to the Eastern Dublin General Plan, the Eastern Dublin Specific Plan, the Eastern Dublin Specific Plan EIR or any of the Supplemental EIRs that affect the Project site. Project Impacts a, b) Result in the loss of availability of regionally or locally significant mineral resources? No New Impact. None of the City of Dublin land use regulatory documents or applicable EIRs indicate that significant deposits of minerals exist on the Project site, so no impacts would occur. 11. Noise Environmental Setting Noise can be defined as unwanted sound. It is commonly measured with an instrument called a sound level meter. The sound level meter captures the sound with a microphone and converts it into a number called a sound level. Sound levels are expressed in units of decibels. To correlate the microphone signal to a level that corresponds to the way humans perceive noise, the A-weighting filter is used. A-weighting de-emphasizes low-frequency and very high-frequency sound in a manner similar to human hearing. The use of A-weighting is required by most local General Plans as well as federal and state noise regulations (e.g. Caltrans, EPA, OSHA and HUD). The abbreviation dBA is sometimes used when the A-weighted sound level is reported. Because of the time-varying nature of environmental sound, there are many descriptors that are used to quantify the sound level. Although one individual descriptor alone does not fully describe a particular noise environment, taken together, they can more accurately represent the noise environment. The maximum instantaneous noise level (Lmax) is often used to identify the loudness of a single event such as a car passby or airplane flyover. To express the average noise level the Leq (equivalent noise level) is used. The Leq can be measured over any length of time but is typically reported for periods of 15 minutes to 1 hour. The background noise level (or residual noise level) is the sound level during the quietest moments. It is usually generated by steady sources City of Dublin Page 57 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 such as distant freeway traffic. It can be quantified with a descriptor called the L90 which is the sound level exceeded 90 percent of the time. To quantify the noise level over a 24-hour period, the Day/ Night Average Sound Level (DNL or Ldn) or Community Noise Equivalent Level (CNEL) is used. These descriptors are averages like the Leq except they include a 10 dB penalty during nighttime hours (and a 5 dB penalty during evening hours in the CNEL) to account for peoples increased sensitivity during these hours. The CNEL and Ldn are typically less that one decibel from each other. In environmental noise, a change in noise level of 3 dB is considered a just noticeable difference. A 5 dB change is clearly noticeable, but not dramatic. A 10 dB change is perceived as a halving or doubling in loudness. The major noise sources that affect the Project site are vehicular traffic on Interstate 580 and aircraft overflights. Existing terrain between the site and Interstate 580 affords some acoustical shielding of parcels, particularly those along the future Central Parkway, east of Fallon Road. Livermore Municipal Airport is to the southeast and flights from the Airport pass directly over the site. As required by existing mitigation measures contained in previous CEQA documents, a site-specific acoustic analysis was prepared for this application by the firm of Rosen, Goldberg, Der & Lewitz dated April 29, 2010. This report is hereby incorporated by reference into this Initial Study and is available for review at the Dublin Community Development Department during normal business hours. Noise measurements were made on and around the Project site to quantify the existing noise environment. These included three continuous 48-hour noise measurement and two short-term, one-hour measurements. The noise measurement locations are shown on Exhibit 4. The short-term measurement results were correlated with simultaneous measurements at the long-term monitoring location to determine the Ldn at the short-term measurement locations. Table 6 shows the results of the short-term measurements. A total of 181 airplanes flew over or near the site during the two-day measurements. There was an average of 91 airplanes per day. The number of planes includes only those flyovers that generated an Lmax of at least 60 dBA at Location B, since airplanes with noise levels below this threshold are difficult to accurately identify. The typical Lmax of the louder airplanes (top 30%) was about 71 dBA. The loudest airplane generated an Lmax of 80 dBA. City of Dublin Page 68 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Table 6. Short-Term Noise Measurement Results A-Weighted Noise Level, dBA Location Date/Time L,q Lmax I110 L50 L90 CNEL' Fallon Road at setback of proposed residential 1 lot, 80 feet from center 6-Apr-10 60 75 63 54 45 62 of roadway, 20 feet 14:15 -14:30 above pavement elevation Positano Parkway at setback proposed 2 residential lot, 51 feet 6-Apr-10 49 65 52 43 40 56 from center of 14:45 -15:00 roadway, 9 feet above pavement elevation "Estimate of CNEL based on comparison of short-term measuremerns wan resuns ui luny-ienii measurements. Source: Rosen, Goldberg, Der & Lewitz, 2010 The 1993 EIR addresses aircraft noise from Livermore Municipal Airport. Aircraft noise is identified as an insignificant impact in this document (IM 3.10/C). The 2002 SEIR included a discussion of any changes in the noise environment during the ten years between documents. The 2002 SEIR references the Eastern Dublin EIR for aircraft noise and therefore still considered aircraft flyover noise to be an insignificant impact. The 2005 SEIR, found aircraft noise to be a less than significant impact after implementation of Supplemental Mitigation Measure SM-NOISE-1, which implements AB 2776 requirements within the AIA (the Project Site is within the AIA) will need to have full disclosure regarding the presence of flyovers. Regulatory setting The Noise Element of the Dublin General Plan identifies the following primary sources of noise in Dublin: traffic noise from freeways and major roadways within the community and noise generated by the BART line adjacent to the I-580 freeway. The Noise Element identifies the following maximum noise exposure levels by land use type. City of Dublin Page 69 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Table 7. City of Dublin Land Use/Noise Compatibility Standards (decibels) Land Use Normally Acceptable Conditionally Acceptable Normally Unacceptable Clearly Unacceptable Residential 60 or less 60-70 70-75 75+ Lodging Facilities 60-70 70-80 80+ -- Schools, churches, nursing homes 60-70 70-80 80+ -- Neighborhood arks 60 or less 60-65 65-70 70+ Office/Retail 70 or less 70-75 75-80 80+ Industrial 70 or less 70-75 75+ Source: Dublin General Plan Noise Element, Table 9-1 The City of Dublin also enforces an interior noise standard of 45 decibels for residential dwellings. Previous EIRs Eastern Dublin EIR. The Eastern Dublin EIR contains a number of mitigation measures to reduce anticipated noise impacts from the General Plan and EDSP project. These include: • Mitigation Measures 3.10/1.0 would reduce impacts related to exposure of proposed housing to future roadway noise (IM 3.10/A) to a less-than-significant level. This mitigation measure requires that all future development projects have an acoustic analysis prepared to ensure that future dwelling units meet City noise exposure levels. • Mitigation Measures 3.10/4.0 and 5.0 would reduce impacts related to construction noise (IM 10/E) to a less-than-significant level. These mitigation measures require developers to submit construction noise management plans and to limit hours of construction operations. 2002 SEIR. The 2002 Supplement contains two supplemental mitigation measures dealing with noise impacts, as follows: Supplemental Mitigation Measure SM-NOISE-1 requires a noise insulation plan for general commercial and industrial land uses for specific development projects located within a 70 decibel noise contour. • Supplemental Mitigation Measure SM-NOISE-2 limits heavy truck traffic to designated arterial roads and truck routes in the Fallon Village area. City of Dublin Page 70 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 The 2002 SEIR found that exposure of proposed and existing housing to noise levels in excess of City standards established in the Noise Element was a significant and unavoidable impact. 2005 SEIR. The SEIR prepared in 2005 contains the following supplemental noise mitigation measures: • Supplemental Mitigation Measure SM-NOISE-1 requires that residents of residential developments in the Fallon Village area receive written notification of aircraft overflights from Livermore Airport • Supplemental Mitigation Measure SM-NOISE-2 requires an acoustical study must be prepared for future residential projects in the Fallon Village area. The proposed Project will be required to comply with applicable noise mitigation measures contained in the previous EIRs. Project Impacts a,c) Would the project expose persons or generation of noise levels in excess of standards established by the General Plan or other applicable standard and result in a substantial increases in permanent in ambient noise levels ? No New Impact. Future traffic noise levels would be CNEL 71 dBA at the backyards of proposed single-family homes along Fallon Road, and 65 dBA at the backyards of the homes along Positano Parkway in Neighborhood 1 (see Exhibit 3). As recommended in the Rosen, Goldberg, Der & Lewitz report prepared in accordance with Supplemental Mitigation Measure SM-NOISE-2, a minimum six-foot tall noise barrier shall be constructed along the western side of the Project adjacent to Fallon Road and Positano Parkway to reduce anticipated traffic noise to acceptable City standards. The exact height and location of the barrier shall be determined by a follow-on site-specific acoustical study to be performed when Neighborhood 1 is developed. The Rosen, Goldberg, Der & Lewitz study also recommends completion of site specific acoustical studies for each Neighborhood as the site plans are being refined and building architectural drawings are available. The site specific acoustical studies shall identify any required specific noise control measures (noise barriers and building acoustical treatments) to be incorporated into each Neighborhood's final design. Based on information included in the Rosen, Goldberg, Der & Lewitz acoustic study, there would be no new or substantially more severe noise impacts with respect to generation of noise in excess of City standards than have been previously analyzed in previous CEQA documents. b) Exposure of people to excessive groundborne vibration or groundborne noise levels? No New Impact. According to the Project applicant, normal construction methods City of Dublin Page 11 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 would be used to build the proposed Project so there would be limited and less- than-significant generation of groundborne noise or vibration. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. d) Substantial temporary or periodic increase in ambient noise levels in the project vicinity above levels without the project? No New Impact. The proposed Project is required to adhere to construction noise mitigation measures included in the Eastern Dublin EIR to minimize the impacts of construction noise, including Mitigation Measure 3.10/4.0 and Mitigation Measure 3.10/5.0, to reduce this impact to a less-than- significant level. No new or more substantially severe impacts with respect to construction noise have been identified in this Initial Study than have been previously analyzed in other CEQA documents for the Project site. e, f) For a project located within an airport land use plan, would the project expose people to excessive noise levels? No New Impact. The Project site is located within the height referral area of the Livermore Airport and adherence to Supplemental Mitigation Measure SM-NOISE-1 contained in the 2005 SEIR will reduce this impact to a less- than-significant level. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. City of Dublin Page 72 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Exhibit 4 Noise Measurement Locations City of Dublin Page 73 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 12. Population and Housing Environmental Settine The Project site is currently vacant and contains no dwellings. Project Impacts a) Induce substantial population growth in an area, either directly or indirectly? No New Impact. The Project site has been planned for a mix of residential and commercial land uses, parks, open spaces and other land uses since adoption of the Eastern Dublin General Plan Amendment and Specific Plan in 1993. The Eastern Dublin EIR analyzed the growth inducing impact (Impact 3.5/T) related to providing water service to the Eastern Dublin area. The configuration of uses on the site and surrounding areas was slightly modified in 2002 and in 2005 as identified in the Project Description section of this Initial Study. The current proposal would result in construction of a decrease of 284 dwellings from existing City land use approvals. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. b,c) Would the project displace substantial numbers of existing housing units or people? No New Impact. The Project site currently contains no dwelling units and no impact would result with regard to displacement of dwellings or population on the site. There would be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. 13. Public Services Environmental Setting The following provide essential services to the Project Site: • Fire Protection. Fire protection services are provided by the Alameda County Fire Department. The Department provides fire suppression, emergency medical response, fire prevention, education, building inspection services and hazardous material control. The nearest station is Station 18, located northwest of the Project area at 4800 Fallon Road. • Police Protection: Police and security protection is provided by the Dublin Police Services Department. • Schools. The Dublin Unified School District provides K-12 educational services for properties in the Eastern Dublin area. • Library Services: Alameda County Library service City of Dublin Page 74 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 • Maintenance. Maintenance of streets, roads and other governmental facilities are the responsibility of the City of Dublin. Previous EIRs Applicable mitigation measures contained police protection include: in Eastern Dublin EIR addressing fire and • Mitigation Measure 3.4/7.0: Establish appropriate funding mechanisms to cover up-front costs if capital fire improvements. • Mitigation Measure 3.4/9.0: Incorporate Fire Department recommendations on project design relating to access, water pressure, fire safety and prevention into the requirements of development approval. • Mitigation Measure 3.4/10.0: Ensure, as a requirement of project approval, that an assessment district, homeowners association or other mechanism is in place that will provide regular long-term maintenance of the urban/ open space interface. • Mitigation Measure 3.4/12.0: The City shall work with the Fire Department and qualified biologists to prepare a wildfire management plan for the project area. • Mitigation Measure 3.4/1.0: Provide additional personnel and facilities and revise beats as necessary in order to establish and maintain City standards for police protection service in Eastern Dublin. • Mitigation Measure 3.4/3.0-5.0: Incorporate into the requirements of project approval Police Department recommendations on project design that affect traffic safety and crime prevention. Public Services were not addressed in either the 2002 Supplemental EIR. The topic of Community Services was analyzed in the 2005 SEIR and no supplemental impacts were identified regarding this topic. The proposed Development Plan on the Jordan Ranch is required to adhere to Eastern Dublin mitigation measures. Project Impacts a) Fire protection? No New Impact. Approval of the proposed project and construction of a residential development on the Jordan Ranch Property would increase the number of fire and emergency medical calls for service that would need to be responded to by the Alameda County Fire Department, the City of Dublin's contract fire department. The proposed Project is required to adhere to mitigation measures, including payment of public facility impact fees to assist in funding new fire stations (Eastern Dublin EIR Mitigation Measure 3.4 / 7.0), so that impacts to City of Dublin Page 75 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 the Alameda County Fire Department related to approval and construction of the proposed Project would be less-than-significant. Consistent with Eastern Dublin EIR Mitigation Measure 3.4/9.0, proposed development on the Project site will be conditioned to meet Fire Department requirements including but not limited to maintaining minimum water pressure and fire flow, providing adequate site access and using fire retardant building materials. Proposed development on the Site will also be conditioned to be consistent with the City's adopted Wildfire Management Plan (Eastern Dublin EIR Mitigation Measure 3.4/12.0). Based on discussions with Alameda County Fire Department staff, there would be no new or substantially more severe significant impacts with respect to fire service beyond that analyzed in previous CEQA documents (source: Bonnie Terra, Alameda County Fire Department, 4 /15 / 10). b) Police protection? No New Impact. Similar to fire protection, there would be a less- than-significant impact with regard to police protection, based on the following mitigation measures included in the Eastern Dublin EIR. These Mitigation Measures include paying City of Dublin public facility impact fees to assist in funding new police facilities (Mitigation Measure 3.4/1.0) incorporating Police Department safety and security requirements into the proposed Project, including but not limited to adequate locking devices, lighting and ensuring adequate surveillance for structures and parking areas (Mitigation Measures 3.4/3.0-5.0). Based on discussions with Dublin Police Services Department staff, there would be no new or substantially more severe impacts with respect to police service beyond that analyzed in previous CEQA documents (source: Chief Nice, Dublin Police Services, 4/27/10). c) Schools? No New Impact. There would be a less-than-significant impact to school service should the proposed Project be approved since payment of mandated statutory impact fees at the time of issuance of building permits will provide mitigation of educational impacts pursuant to CEQA. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. d) Other governmental service, including maintenance of public facilities? No New Impact. Maintenance of public facilities would continue to be provided by the City of Dublin with a less-than-significant impact in regard to this topic. New public facilities will be required to be designed to meet City of Dublin standards. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. e) Solid waste generation? No New Impact. See item 16 "e" and '%" below. City of Dublin Page 76 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 14. Recreation Environmental Setting No neighborhood or community parks and/or recreation services or facilities are currently located on the Project site. The Dublin General Plan and Eastern Dublin Specific Plan designate a number of future park sites on the Jordan Ranch. These include a 5.8-acre community park, a 2.7-acre neighborhood square and an 11-acre community park. The City of Dublin offers a range of park, recreation and cultural services. The nearest City of Dublin community park to the project area is Emerald Glen Park, located on the southwest corner of Tassajara Road and Gleason Drive, west of the Project area. A major sports park is being developed just west of the Jordan Ranch site on the northwest corner of Fallon Road and Central Parkway. These parks will be constructed from a combination of City public facilities impact fees and developer dedications of land at the time development on adjacent properties occur. Regional park facilities are provided by the East Bay Regional Park District, which maintains a large number of regional parks, trails and similar recreation facilities in Alameda and Contra Costa Counties. Previous EIRs Eastern Dublin EIR. The Eastern Dublin EIR identified a number of mitigation measures related to parks and recreational facilities, as follows. Mitigation Measures 3.4/20.0-28.0 calls for the acquisition and development of new parks and other outdoor facilities in Eastern Dublin, requiring land dedication and/or park in-lieu fees for new subdivisions and similar techniques to provide for additional park and recreational features. Implementation of all of the mitigation measures identified in the Eastern Dublin EIR would result in a ratio of 6.7 acres of parkland per 1000 population in Eastern Dublin. Mitigation Measures 3.4/29.0-31.0 requires that each new development in Eastern Dublin provide a fair share of parks and open space facilities. Development of a parks implementation plan was also called for, to identify and prioritize parkland in Eastern Dublin. Finally, adoption of a park in-lieu fee program was required as a mitigation measure to reduce this impact to a level of insignificance. Consistent with these mitigations, the City requires residential project developers to dedicate parkland at the time of subdivision approval and pay Public Facility Fees (which includes park in-lieu fees) to fund both the development of neighborhood and community park facilities as well as other community facilities. City of Dublin Page 77 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Mitigation Measure 3.4/32.0 requires the establishment of a trail system with connections to planned regional and subregional trails, which would reduce this impact to an insignificant level. • Mitigation Measures 3.4/33.0-36.0 call for use of natural stream corridors and major ridgelines to create a comprehensive, integrated trail system that allows safe and convenient pedestrian access, and required developers to dedicate public access along ridgetops and stream corridors to accommodate trail and staging areas. 2002 SEIR. The 2002 SEIR described a proposed action of that project to detach the Project area from the Livermore Area Recreation and Parks District (LARPD) as part of the larger reorganization that also included annexation of the Project area to the City of Dublin and Dublin San Ramon Services District. Under the reorganization proposal, the City of Dublin would provide parks and recreation facilities and services to Project area residents as part of the larger spectrum of municipal services. The reorganization was approved by the Alameda County Local Agency Formation Commission in 2002 and the Site now receives park and recreation facilities and services provided by the City of Dublin. No supplemental park and recreation impacts were identified in the 2005 SEIR. The Project developers will be required to comply with all applicable mitigation measures contained in the previous EIRs. Project Impacts a) Would the project increase the use of existing neighborhood or regional parks? No New Impact. Approval and construction of the proposed Project would increase the use of nearby City and regional recreational facilities, since it would include increasing the on-site permanent population on the site. However, the Project applicants are required to comply with Eastern Dublin EIR mitigation measures, including payment of City public facilities fees to assist the City to purchase and/or improve parks throughout the community that could be used by Project residents. This would include future construction of the neighborhood square, neighborhood park and community park on the Jordan site. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. b) Does the project include recreational facilities or require the construction of recreational facilities? No New Impact. See item "a," above Since proposed development on the Jordan Ranch site property will be subject to Eastern Dublin EIR mitigation measures, impacts related to provision or construction of recreational facilities would be less-than-significant. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. City of Dublin Page 78 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 15. Transportation/Traffic Environmental Setting Existing roadways The Project site is served by Fallon Road, a north-south arterial roadway in east Dublin, as well as Central Parkway and Positano Parkway, both east-west collectors. Fallon Road is a north-south two to four lane arterial extending from I-580 to about 2 miles north of I-580. It will be extended to connect to Tassajara Road to the north in the future. As a part of on-going development in east Dublin, it will eventually be widened to eight lanes south of Dublin Boulevard, six lanes between Dublin Boulevard and Gleason Drive, and four lanes north of Gleason Drive. Positano Parkway extends in an east-west arc from Fallon Road to the planned extension of Croak Road northeast of the Project site. Positano Parkway is a two-lane roadway that forms a portion of the Project's western boundary and provides primary access to the Positano residential development, north of Jordan Ranch. Central Parkway is a two-lane roadway extending from Arnold Road to Lockhart Street. An extension between Lockhart Street and Fallon Road is planned for opening in 2010. Central Parkway is planned for widening to four lanes in the future. Interstate 580 (I-580) is an eight-lane east-west freeway that connects Dublin with local cities such as Livermore and Pleasanton as well as regional origins and destinations such as Oakland, Hayward and Tracy. In the vicinity of the proposed Project, I-580 carries between 184,000 and 196,000 vehicles per day (vpd) (according to Caltrans 2003 Traffic Volumes on California State Highways) with interchanges at Dougherty Road /Hopyard Road, Hacienda Drive, Tassajara Road/Santa Rita Road and Fallon Road / El Charro Road. Phase 1 improvements to the I-580 / Fallon Road interchange were completed in early 2010. Existing transit service Transit service to the Project area is provided by the following: Livermore-Amador Valley Transit Authority (Wheels). "Wheels" is the fixed-route transit service provided by the Livermore Amador Valley Transit Authority (LAVTA) for the Tri-Valley communities of Dublin, Livermore, and Pleasanton. Bus Lines that currently provide service to east Dublin (Tassajara Road and east) include routes 1 (including 1A/1AV, 1B/1BV,1C, 1E), 12, 50, 54 and 202. Route 1 consists of four weekday routes and one Saturday route that provide service between the Dublin/ Pleasanton BART station and the Dublin Ranch area, including Fallon Middle School, at approximately 30-minute headways. The routes operate on weekdays between 6:00 a.m. and 9:00 p.m., and on Saturdays from 7:30 a.m. to 10:15 a.m. and from 3:20 p.m. to 6:00 p.m. City of Dublin Page 79 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Route 12 provides service between the Dublin/ Pleasanton BART station and the Livermore Transit Center at approximate 30-minute headways on weekdays between 5:30 a.m. and11:00 p.m. Route 12 provides service on weekends between 7:00 a.m. and 7:00 p.m. at one hour headways. Route 50 provides service between the Dublin/ Pleasanton BART station and Hacienda Business Park via the Tassajara/Koll Center Park & Ride, with weekday morning and afternoon service at 15-minute headways. Route 54 provides service in the morning and afternoon matching ACE train arrivals and departures, connecting between the Pleasanton ACE station and the Dublin/Pleasanton BART station with intermediate stops, including the Tassajara/Koll Center Park & Ride. Route 202 provides one weekday morning (westbound) run and one weekday afternoon (eastbound) run between Fallon Road and Dublin High School. A new service, Bus Rapid Transit (BRT), is slated to commence in early 2011. This new route will provide express bus service between Livermore, the Dublin/ Pleasanton BART station and Stoneridge Mall via Dublin Boulevard. Bay Area Rapid Transit (BART) system. BART provides regional rail transit access from the Dublin/ Pleasanton station. BART runs at 15- to 20-minute headways between 4:00 AM and 12:00 AM on weekdays. Saturday service is available every 20 minutes between 6:00 AM and 12:45 AM. Service is also available on Sunday from 8:00 AM to 12:45 AM with 20-minute headways. A new West Dublin-Pleasanton station is under construction and is expected to be operational in 2011. In addition, long-range planning studies of potentially extending BART lines to Livermore are being conducted. The studies also will examine alternative means of improving transit service to Livermore in the BART corridor until funds are available to construct the BART extension. ACE Commuter Train. Altamont Commuter Express (ACE) offers an alternative to the automobile for regional commute trips between the Central Valley and the South Bay Area with stops in Livermore and Pleasanton. Because ACE primarily serves commute trips to the Bay area, the trains run westbound in the morning and eastbound in the evening. There is one ACE station in Pleasanton near the intersection of Bernal Avenue and Pleasanton Avenue. Livermore has two ACE stations, one in Downtown near the Livermore Avenue/ Railroad Avenue intersection and the other on Vasco Road, at the Vasco Road/Brisa Street intersection. In the morning, westbound trains stop at Pleasanton at approximately 5:40 a.m., 6:45 a.m. and 7:55 a.m. In the evening, eastbound trains stop at Pleasanton at approximately 4:30 p.m., 5:30 p.m. and 6:30 p.m. Previous EIRs Eastern Dublin EIR. The Eastern Dublin EIR includes the following mitigation measures City of Dublin Page 80 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 • Mitigation Measures 3.3/1.0 and 3.3/4.0) were adopted which reduced impacts on I-580 between Tassajara Road and Fallon Road and on I-680 north of I-580 to a level of insignificance. Mitigation Measures 3.3/2.0, 2.1, 3.0 and 5.0 were adopted to reduce impacts on the remaining I-580 freeway segments and the I-580 / 680 interchange. Even with mitigations, however, significant cumulative impacts remained on I-580 freeway segments between I-680 and Dougherty Road and, at the build-out scenario of 2010, on other segments of 1-580. Mitigation Measures 3.3 / 6.0 - 8.0, 10.0 and 12.0 were adopted to reduce impacts to the Dougherty Road/Dublin Boulevard, Hacienda Drive/I-580 Eastbound Freeway Ramps, Tassajara Road/I-580 Westbound Freeway Ramps, Airway Boulevard/ Dublin Boulevard intersections and long El Charro Road to a level of insignificance. These mitigations include construction of additional lanes at intersections, coordination with Caltrans and the neighboring cities of Pleasanton and Livermore to restripe, widen or modify on-ramps and off-ramps and interchange intersections, and coordination with Caltrans to modify certain interchanges. Development projects within the Eastern Dublin project area are also required to contribute a proportionate share to the multi-jurisdictional improvements through the Eastern Dublin traffic impact fee program and the Tri-Valley Transportation Development Fee program. • Mitigation Measures 3.3/13.0 and 14.0 were adopted to reduce impacts on identified intersections with Dublin Boulevard and Tassajara Road. Mitigation Measures 3.3/15.0 -15.3 and 16.0 -16.1 generally require coordination with transit providers to extend transit services and coincide pedestrian and bicycle paths with signals at major street crossings. 2002 SEIR. The following mitigation measures were included in the 2002 SEIR. Supplemental Mitigation Measure SM-TRAFFIC-1 requires individual developers in the Fallon Village area to contribute a pro-rata share of widening the I-580/Hacienda Drive eastbound ramp to include an additional left turn lane. • Supplemental Mitigation Measure SM-TRAFFIC-2 requires individual developers in the Fallon Village area to contribute a pro-rata share of widening the northbound Hacienda Drive overcrossing from 3 to 4 lanes as well as modifying the westbound loop on-ramp to meet Caltrans design standards. • Supplemental Mitigation Measure SM-TRAFFIC-3 requires individual developers in the Fallon Village area to contribute a pro-rata share of converting the east bound I-580/Santa Rita to a shared left-turn/through lane. City of Dublin rage ai initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 • Supplemental Mitigation Measure SM-TRAFFIC-4 requires individual developers in the Fallon Village area to install a signal at the Dublin Boulevard/ Street D intersection. • Supplemental Mitigation Measure SM-TRAFFIC-5 requires individual developers in the Fallon Village area to contribute a pro-rata share of installing a traffic signal at the Fallon Road/ Project Road intersection. • Supplemental Mitigation Measure SM-TRAFFIC-6 requires individual developers in the Fallon Village area to contribute a pro-rata share of reconfiguring the Dublin Boulevard/ Dougherty Road intersection. • Supplemental Mitigation Measure SM-TRAFFIC-7 requires individual developers in the Fallon Village area to construct an additional through lane on northbound Fallon Road, an additional left-turn lane and an additional through lane on southbound Fallon Road. • Supplemental Mitigation Measure SM-TRAFFIC-8 requires individual developers in the Fallon Village area to fund a feasibility study for possibly relocating the Fallon Road/ Dublin Boulevard intersection further north and adding a new signalized intersection south of the relocated Fallon Road/Dublin Boulevard intersection. • Supplemental Mitigation Measure SM-TRAFFIC-9 requires individual developers in the Fallon Village to fund widening Fallon Road between the 1-580 freeway and Dublin Boulevard to eight lanes, for widening Fallon Road between Dublin Boulevard and Central Parkway to six lanes and for widening Fallon Road between Central Parkway and Project Road to four lanes. The Fallon Road/I-580 overcrossing shall also be widened to six lanes. Supplemental Mitigation Measure SM-TRAFFIC-10 requires individual developers in the Fallon Village area to widen Central Parkway between Tassajara Road and Fallon Road to four lanes. 2005 SEIR. The 2005 SEIR contained the following traffic and transportation mitigation measures: Supplemental Mitigation Measure SM-TRA-1 requires individual project developers in the Fallon Village area to advance construction of the Dougherty Road/ Dublin Boulevard intersection improvements or, if the City's Traffic Impact Fee Program is updated in the future to fund these improvements, use of traffic fees would mitigate this cumulative impact. • Supplemental Mitigation Measure SM-TRA-2 requires all project developers in the Fallon Village area to fund the widening of the I-580 eastbound off ramp at Santa Rita Road to accommodate additional peak hour cumulative traffic. City of Dublin Page 82 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Supplemental Mitigation Measure SM-TRA-3 requires project developers in the Fallon Village area to contribute a pro-rata share of funding to widen the Central Parkway/ Hacienda Drive intersection to accommodate anticipated cumulative traffic. All mitigation measures adopted upon approval of the Eastern Dublin Specific Plan EIR, the 2002 SEIR and the 2005 SEIR shall apply to the proposed Project. All mitigation measures adopted upon approval of the Eastern Dublin Specific Plan EIR, the 2002 SEIR and the 2005 SEIR shall apply to the proposed Project. Some of the required improvements have already been completed, some are underway, and some are planned for the future with funding provided through the Eastern Dublin TIF Program Project Impacts a) Cause an increase in traffic which is substantial to existing traffic load and street capacity? No New Impact. The Eastern Dublin EIR considered the development of the Project site with a mix of Medium Density Residential, Medium High Density Residential, Neighborhood Commercial, Parks, Open Space, Semi-Public and an Elementary School site and adopted mitigation measures to address the impacts thereof. Land uses on the Project site were subsequently amended to redesignate the Site in the Dublin General Plan and Eastern Dublin EIR as noted in the Project Description section of this Initial Study. If approved, the maximum number of dwellings on the site would be reduced by approximately 284 dwellings from the existing approved Project entitlement analyzed in the 2005 SEIR. Estimated trips from the Project under proposed land use designations are shown on Table 8. As shown in the following table, buildout of land uses as proposed in the Stage 2 Development Plan would result in a reduction of 3,710 total daily trips. During the a.m. peak hour, there would be an estimated increase of 258 trips. In the p.m. peak hour, there would be an estimated reduction of 358 trips. The reported increase of traffic during the a.m. peak hour is due to the fact that the 2005 SEIR included the school site as part of the project description but did not include school-generated traffic in the assessment of impacts. This exclusion does not change the overall conclusions presented in the 2005 SEIR, as the majority of school trips would remain internal to the development, or be part of another trip destined outside the area. Furthermore, traffic conditions are generally worse during the p.m. peak hour, so the expected reduction in p.m. peak hour trips with the proposed Project will lessen previously stated impacts on the transportation system. The additional a.m. peak hour trips will not create any new significant impacts under the CEQA standards of significance. However, in order to address certain traffic operations issues, appropriate traffic control devices and lane configurations for various intersections within the Project and immediately adjacent to the Project have been identified and incorporated into the Project through the Conditions of Approval. City of Dublin Page 83 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 In reviewing buildout impacts of adding proposed Project traffic to intersections near the Project site (see Table 4.2.7 of the 2005 SEIR), the addition of 258 a.m. and a reduction of 358 p.m. peak hour trips to peak hour traffic at the intersections listed in Table 4.2.7 of the 2005 SEIR would not result in any new significant impacts. Table 8. Jordan Ranch Project-Proposed and Previous Project Trips D il AM Peak Hour PM Peak Hour Project Component Size a y In Out Total In Out Total Low Density Residential - Neighborhood 1' 252 DU 2,410 47 142 189 160 95 255 Medium Density Residential - Neighborhood 2' 111 DU 1,060 21 62 83 71 41 112 Medium Density Residential - Neighborhood 3' 94 DU 900 18 53 71 60 35 95 Medium High Density Residential' 218 DU 1,460 22 89 111 88 47 135 Village Commercial Residential' 105 DU 710 11 43 54 42 23 65 Village Commercial - Retail' 9,982 SF 430 6 4 10 18 19 37 Village Commercial - Office' 5,100 SF 60 7 1 8 1 7 8 Elementary School'" stun 0 is 11240 255 209 464 37 39 76 Total Trips 8,270 387 603 990 477: 306 783 Trips Analyzed in EIR 11,980 198 534 732 679 462 1,141 Difference From EIR Analysis -3,710 189 69 258 -202 -156 -358 Notes: 1. Trip generation based on ITE rates for Single Family Home (Land Use 210): Daily Rate: T = 9.57 (D) AM Peak Hour Rate: T= 0.75 (D) (inbound = 25%, outbound = 75%) PM Peak Hour Rate: T = 1.01 (D) (inbound = 63%, outbound = 37%) Where: T = trip ends, and D = Dwelling Units 2. Trip generation based on ITE rates for Apartments (Land Use 220): Daily Rate: T = 6.72 AM Peak Hour Rate: T= 0.51 (D) (inbound = 20%, outbound = 80%) PM Peak Hour Rate T= 0.62 (D) + 17.65 (inbound = 65%, outbound = 35%) Where: T = trip ends, and D = Dwelling Units 3. Trip generation based on ITE rates for Retail (Land Use 820): Daily Rate: T = 42.94 (X) AM Peak Hour Rate: T= 1.03 (X) (inbound = 61 %, outbound = 39%) PM Peak Hour Rate T= 3.75 (X) (inbound = 48%, outbound = 52%) Where: T = trip ends, and X = 1,000 Square Feet 4. Trip generation based on ITE rates for Office (Land Use 710): Daily Rate: T =11.01 (X) City of Dublin Page 84 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 AM Peak Hour Rate: T= 1.55 (X) (inbound = 88%, outbound = 12%) PM Peak Hour Rate T= 1.49 (X) (inbound = 17%, outbound = 83%) Where: T = trip ends, and X = 1,000 Square Feet 5. Based on information from other school districts, an estimated 0.30 elementary school students would be generated per single-family home, and 0.05 elementary school students would be generated per apartment unit. This results in approximately 45 elementary school students residing in Jordan Ranch immediately adjacent to the school site (neighborhoods 2 - 6). The number of students expected to come from neighborhoods 2 through 6 were subtracted from the total number of students, as it is anticipated that these students would bicycle or walk to school, or be dropped off by a parent on their way to work. The residential trip generation was not reduced to account for student drop-off/pick-up, as it was assumed that this trip would be part of another trip destined outside Jordan Ranch. 6. Trip generation based on ITE rates for Elementary School (Land Use 520): Daily Rate: T = 2.45 (S) AM Peak Hour Rate: T= 0.92 (S) (inbound = 55%, outbound = 45%) PM Peak Hour Rate: T= 0.15 (S) (inbound = 49%, outbound = 51 %) Where: T = trip ends, and S = number of students Source: ITE Trip Generation, 7th and 8th Editions, Jordan Ranch Stage ll Submittal - Site Development Review, October 1, 2009, and Fehr & Peers, 2010. The Eastern Dublin EIR found that buildout of the Eastern Dublin planning area would result in a number of significant and unavoidable impacts. Such impacts included additional vehicular trips to the I-580 and I-680 freeways (Impacts 3.3 / B and C), cumulative freeway impacts (Impact 3.3 / E), the addition of vehicles to the Santa Rita Road/I-580 Eastbound Ramps, Cumulative impacts on Dublin Boulevard (Impact 3.3M) and cumulative impacts on Tassajara Road (Impact 3.3/N). A Statement of Overriding Considerations was approved in adopting the Eastern Dublin Specific Plan by City Council Resolution No. 53-93. The 2002 SEIR identified four significant and unavoidable traffic impacts, as follows: • Supplemental Impact Traffic-6 found that the Dublin Boulevard/ Dougherty Road intersection would be significant and unavoidable in the 2025 cumulative buildout conditions during the a.m. and p.m. peak periods. • Supplemental Impact Traffic-7 identified a significant and unavoidable impact at the Hacienda Drive/ Dublin Boulevard intersection in the p.m. peak hour during the 2025 cumulative buildout period. • Supplemental Impact Traffic-8 found that increases in traffic volumes at the Fallon Road/ Dublin Boulevard intersection during the p.m. peak hour in the Year 2025 cumulative buildout would be significant and unavoidable. • Supplemental Impact Traffic-11 found that freeway segments along both the I-580 and I-680 freeways would operate at an unacceptable level of service during both the a.m. and p.m. peak hours under cumulative buildout conditions. City of Dublin Page s5 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 The 2005 SEIR found two significant and unavoidable supplemental traffic impacts. Supplemental Impact TRA-4 found a significant and unavoidable impact with respect to cumulative impacts to local freeways and Supplemental Impact TRA-5 found a significant and unavoidable impact with respect to consistency with the Alameda County Congestion Management Plan. Based on the foregoing, there will be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. b) Exceed, either individually or cumulatively, a LOS standard established by the County CMA for designated roads)? No New Impact. The Alameda County 2009 Congestion Management Program describes the City's obligation to conduct an analysis of impacts on the Metropolitan Transportation System (MTS)-designated roadways and transit systems if the proposed Project will generate 100 or more new p.m. peak hour trips. Approval and implementation of the proposed Project would generate fewer p.m. peak hour trips than the previously approved Project, so analysis of impacts on the MTS is not required. The 2005 SEIR conducted a full traffic analysis of the impacts on LOS on local and regional roadways of the Fallon Village Project, including the development of 1064 residential units and 83,635 non-residential square feet proposed for the Jordan Ranch Property at that time. The traffic analysis was conducted in accordance with regional agency standards. The current Jordan Ranch Project has 284 fewer residential units than that previously analyzed. Based on the reduction of overall vehicle trips for the current proposal compared to the one previously analyzed, no new or substantially more severe impacts on roadway levels of service would result from the proposed Project than previously analyzed in the prior EIRs. c) Change in air traffic patterns? No New Impact. The proposed Project would have no impact on air traffic patterns, since it involves a primarily residential development and related entitlements. There would be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. d) Substantially increase hazards due to a design feature or an incompatible use? No New Impact. Approval of the proposed Project and future development would add new driveways, sidewalks and other vehicular and pedestrian travel ways where none currently exist. The EDSP and the Dublin Municipal Code contain design standards intended to assure that access to and from a development area, and circulation within the area, will be safe and efficient. Since Project facilities will be required to be constructed to these design standards, no significant impacts with regard to creating design hazards or unsafe conditions are anticipated. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. City of Dublin Page 86 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 e) Result in inadequate emergency access? No New Impact. The proposed Project would provide multiple points of entry from Fallon Road, Central Parkway, Positano Parkway, and La Vina Street, which connects the Project site to the tract to the north. No new or significantly more severe impacts are therefore anticipated with respect to this topic than have been previously analyzed in Project CEQA documents. f) Inadequate parking capacity? No New Impact. No impacts to parking requirements are anticipated since the Project would exceed City parking requirements. Based on information submitted with the application, the proposed 780 dwellings within the Jordan Ranch would be required to provide 2,179 parking spaces, including 1,560 covered spaces for the dwellings plus 619 uncovered guest spaces. A total of 2,335 spaces are proposed, including some spaces on Project streets. This would result in a surplus of 156 spaces and no new or substantially more severe significant impact would occur than analyzed in previous CEQA documents for the Project site. g) Hazards or barriers for pedestrians or bicyclists? No New Impact. The proposed Project would include construction of sidewalks along public roads to facilitate pedestrian access. Six-foot wide bicycle lanes are proposed along both sides of the extension of Central Parkway. Bicyclists could use roads to access Fallon Road and other roads, so that no significant impacts to this topic would result with respect to this topic. 16. Utilities and Service Systems Environmental Settin The Project area is served by the following service providers: • Water supply: Dublin San Ramon Services District (DSRSD). • Sewage collection and treatment; recycled water: DSRSD. • Storm drainage: City of Dublin and Zone 7. • Solid waste service: Amador Valley Industries • Electrical and natural gas power: Pacific Gas and Electric Co. • Communications: A T & T. Previous EIRs Eastern Dublin EIR. In terms of water resources, the Eastern Dublin EIR identified overdraft of groundwater resources (Impact 3.5/P) as a potentially significant impact Adherence to Mitigation Measures 3.5/24.0 and 25.0 would reduce this impact to a level Cy Dln Page 87 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 of insignificant. These measures require the City of Dublin to coordinate with DSRSD to develop recycled water resources and otherwise carefully use water resources and that all new development in the Eastern Dublin project area to connect to the DSRSD water system. Impact 3.5 / Q identified an increase in water demand as a potentially significant impact, but this impact could be mitigated to an insignificant level based on implementation of Mitigation Measures 3.5/26.0-31.0. These mitigation measures require implementation of water conservation measures in individual development projects and construction of new system-wide water improvements which are funded by development impact fees. Another related impact identified in the Eastern Dublin EIR is the need for additional water treatment plant capacity (Impact 3.5/R). This impact was identified as being reduced to a level of insignificance through the implementation of Mitigation Measures 3.5/31.0-32.0, which requires improvement to the Zone 7 water system, to be funded by individual development impact fees. Impact 3.5/S (lack of a water distribution system) was identified as a potentially significant impact in the Eastern Dublin EIR, but this impact has been reduced to an insignificant level through adherence to Mitigation Measures 3.5/34.0-38.0. These mitigations require upgrades to the project area water system and provision of a "will serve" letter prior to issuance of a grading permit. Impact 3.5 / T identified a potentially significant impact related to inducement of substantial growth and concentration of population in the project area. The Eastern Dublin EIR found that this was a significant and unavoidable impact. Regarding sewer service, the Eastern Dublin EIR identified Impact 3.5/B (lack of a wastewater collection system) as a potentially significant impact that could be mitigated through adherence to Mitigation Measures 3.5/1.0-5.0. These measures require DSRSD to prepare an area-wide wastewater collection system master plan, requires all new development to be connected to DSRSD's public sewer system, discourages on-site wastewater treatment, requires a "will-serve" letter from DSRSD and requires that all sewer facilities be constructed to DSRSD engineering standards. Impact 3.5/C noted an impact with regard to extension of a sewer trunk line with capacity to serve new development, but could be reduced to an insignificant level since the proposed Eastern Dublin Specific Plan sewer system has been sized to accommodate increased sewer demand from the Specific Plan project. Impact 3.5 / G found that lack of wastewater disposal capacity as a significant impact. An upgraded wastewater disposal facility is presently being constructed by the Livermore Amador Valley Water Management Agency. Impact 3.5/E identified lack of wastewater treatment plant capacity as a potentially significant impact, which could be reduced to an insignificant level through adherence to Mitigation Measure 3.5/8.0, which requires that wastewater treatment and disposal be made available to meet anticipated development in Eastern Dublin. 2002 SEIR. The 2002 SEIR identified two supplemental impacts related to utilities and service systems. Supplemental Impact UTS-1 identified an uncertain energy supply within this portion of PG & E's service territory. Mitigation Measures SM-UTS-1 required City discretionary review prior to installation of any on-site power generators and SM-UTS-2 requires that applicants for Site Development Review approvals obtain will serve letters from PG & E prior to approval of such applications. City of Dublin Page 88 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Supplemental Impact SM-2 identified a supplemental impact with regard to constraints of PG & E's local distribution system. This impact would be mitigated by adherence to Supplemental Mitigation Measures UTS-1 and 2. 2005 SEIR. No supplemental impacts or mitigation measures related to utilities or service systems were identified in the 2005 SEIR. All mitigation measures contained in the Eastern Dublin EIR and 2002 SEIR will apply to the proposed Project. An SB 610 Water Supply Assessment (WSA)was approved by the DSRSD Board of Directors for development envisioned in the 2005 SEIR. This WSA was approved in 2005 by Minute Order No. 05-32 by the DSRSD Board of Directors. This document is incorporated by reference into this document and is available for review at the Dublin San Ramon Services District during normal business hours. Project Impacts a) Exceed wastewater treatment requirements of the RWQCB? No New Impact. The Project site is located within the service area of DSRSD and the Project applicants have requested water and wastewater service from the District. Applicable mitigation measures contained in the Eastern Dublin EIR will apply to this Project to ensure that adequate funding is supplied to DSRSD so that water and wastewater facilities are consistent with wastewater discharge requirements mandated by the Regional Water Quality Control Board. Therefore, impacts associated with this topic would be less-than-significant. No new or substantially more severe supplemental impacts have been identified in this Initial Study than have been analyzed in the prior EIRs. b) Require new water or wastewater treatment facilities or expansion of existing facilities? No New Impact. The EDSP and Eastern Dublin EIR require developers of each individual project in the Eastern Dublin area to fund their fair share contribution to construct major, backbone infrastructure systems as well as to either fund or construct local water and wastewater facilities shown in the EDSP. Therefore, although new water and wastewater facilities would be needed to serve proposed development on the Jordan Ranch, these facilities have been identified in the Eastern Dublin Specific Plan as amended in 2005 and as analyzed in the 2005 SEIR. Section 3.4 of the 2005 SEIR includes a description of water and wastewater facilities that are will be built as part of the overall Fallon Village project, which includes the Jordan Ranch Site. As part of Project review by the City of Dublin, DSRSD and Zone 7 staffs, the Project developer(s) will either be required to construct a portion of these identified facilities in order to support the proposed Project or pay development impact fees to assist in the construction of regional water and wastewater facilities. The 2005 SEIR did not identify any significant supplemental or more severe water or wastewater impacts than was analyzed in the Eastern Dublin EIR. City of Dublin Page 89 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 The water and wastewater facilities needed to serve the proposed Project are substantially similar to those analyzed in the prior EIRs. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. c) Require new storm drainage facilities? No New Impact. The proposed development project would require new drainage facilities to support proposed development. The Eastern Dublin Specific Plan, as amended in 2005 and analyzed in the 2005 SEIR (p. 24), identifies storm drain facilities to be constructed as part of the larger Fallon Village Project to ensure that adequate drainage is provided. The Project applicant will be required to either construct these facilities or pay development impact fees to assist in the construction of regional drainage facilities. The 2005 SEIR did not identify supplemental or more severe drainage impacts than identified in the Eastern Dublin EIR and impacts related to drainage facilities would be less-than-significant. The storm drainage facilities needed to serve the proposed Project are substantially similar to those analyzed in the prior EIRs. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. d) Are sufficient water supplies available? No New Impact. The provision of water supplies was addressed in the 2002 SEIR, since the Fallon Village project was proposed to be annexed into the City of Dublin and DSRSD at that time. Under a previous legal settlement agreement, DSRSD was required to approve a Programmatic Water Service Analysis prior to annexation. This analysis was included as part of the 2002 SEIR (pages 3.7-4-6) and found that DSRSD had identified an adequate long-term water supply for the overall Fallon Village Project. DSRSD has approved a WSA for the Fallon Village Project and the Jordan Ranch Project water demand is within the amount included in the WSA. The decrease in residential units by 284 will result in a lower water demand than included in the WSA. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. e) Adequate wastewater capacity to serve the proposed project? No New Impact. See response to "a," above. f) Solid waste disposal? No New Impact. The Project area is within the franchise area of Amador Valley Industries, a company that provides residential and commercial solid waste pick-up and recycling services. Impacts related to solid waste disposal were analyzed in the Eastern Dublin EIR and a less-than-significant would result with regard to this topic. Since development under the proposed Project would generally be consistent with previous land use approvals that were analyzed in the various CEQA documents identified in the Initial Study, no new or substantially more severe impacts are anticipated than have been previously analyzed in prior EIRs. City of Dublin Page 90 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 g) Comply with federal, state and local statutes and regulations related to solid waste? No New Impact. The existing service provider will ensure adherence to federal, state and local solid waste regulations should the proposed reorganization be approved. No impacts are anticipated in this regard. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. 17. Mandatory Findings of Significance a) Does the project have the potential to degrade the quality of the environment, substantially reduce the habitat of a fish or wildlife species, cause a fish or wildlife population to drop below self-sustaining levels, threaten to eliminate a plant or animal community, reduce the number of or restrict the range of a rare or endangered plant or animal or eliminate important examples of the major periods of California history or prehistory? No New Impact. Potential impacts related to substantial reduction of fish or wildlife species or their respective species, reduce the range or number of endangered plant or animal species or eliminate examples of major period of California history or prehistory in the eastern Dublin area have been analyzed and mitigated in the 1993 Eastern Dublin EIR and two Supplemental EIRs. The proposed Project would cause no new or substantially more significant impacts on biological or cultural resources beyond those identified in previous EIRs. b) Does the project have impacts that are individually limited, but cumulatively considerable? ("Cumulatively considerable" means that the incremental effects of a project are considerable when viewed in connection with the effects of past projects, the effects of other current projects and the effects of probable future projects). No New Impact. Significant and unavoidable impacts have been identified with regard to cumulative biological, air quality and transportation issues for the overall Eastern Dublin project, of which the Jordan Ranch Property is a component. The proposed Project on the Jordan Ranch would not result in new or substantially more severe significant cumulative impacts than have been previously analyzed in the prior EIRs by the City. c) Does the project have environmental effects which will cause substantial adverse effects on human beings, either directly or indirectly? No New Impact. No such impacts have been discovered in the course of preparing this Initial Study. There would therefore be no new or substantially more severe significant impacts with respect to this impact than has been previously analyzed in the prior EIRs. City of Dublin Page 91 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Initial Study Preparers Jerry Haag, Urban Planner, project manager Agencies and Organizations Consulted The following agencies and organizations were contacted in the course of this Initial Study: City of Dublin Jeri Ram, AICP, Community Development Director Michael Porto, Planning Consultant Mark Lander, City Engineer Jaimee Bourgeois, Senior Transportation Engineer Timothy Cremin, Assistant City Attorney Bonnie Terra, Alameda County Fire Department Chief Nice, Dublin Police Services California Department of Toxic Substances Control (DTSC) Website Applicant Representatives Kevin Fryer References Bay Area Air Quality Management District CEOA Guidelines, Revised December 1999 Biological Assessment for the Jordan Ranch Development Project, Olberding Environmental, inc., October 2009 Biological Resource Analysis for the Tordan Ranch Property Olberding Environmental, Inc., October 2009 Dublin General Plan, City of Dublin, Updated through 9 / 14 / 06 Eastern Dublin Specific Plan and General Plan Environmental Impact Report, Wallace Roberts & Todd, 1994 Eastern Dublin Properties Stage 1 Development Plan and Annexation, Draft Supplemental EIR, City of Dublin, January 2002 Eastern Dublin Scenic Corridor Policies and Standards, David Gates & Associates, 1996 City of Dublin Page 92 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Fallon Village Project, Draft Supplemental EIR, August 2005 Jordan Ranch Traffic Analysis and Site Plan Review-Technical Memorandum, Fehr & Peers Associates, March 2010 Parks and Recreation Master Plan City of Dublin, 2004 update Phase I and II Environmental Site Assessment for the Jordan Ranch, ATC Associates, Inc., June 2008 ATC Associates, May, 2008 Resource Management Plan for the Eastern Dublin Properties, WRA and Zander Associates, 2004 Special-Status Plant Survey Report for the Tordan Ranch Property, Olberding Environmental, Inc, September 2009 City of Dublin Page 93 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 Appendix -WRA Biological Resource Letter City of Dublin Page 94 Initial Study/Jordan Ranch Property April 30, 2010 PA 09-011 sawra ENVIRONMENTAL CONSULTANTS March 15, 2010 Jerry Haag 2029 University Avenue Berkeley, California 94704 RE: Jordan Ranch Biological Studies Peer Review Dear Mr. Haag, WRA biologists have reviewed the Jordan Ranch biological documents prepared by Olberding Environmental, Inc. and all additional documentation provided regarding the development project of the Jordan Ranch Property (Project Area), located in Dublin, Alameda County, California. This letter sets forth our evaluation of the biological studies to determine the following: • If there are other potentially occurring or known special status plant or wildlife species on the site that the reports fail to discuss; • If there are any sensitive habitats potentially occurring or known that could support special status plant or wildlife species on the site; • If the reports accurately disclose the extent of the proposed project's impacts to any sensitive biological resources on the site; and, • If proposed mitigation measures are consistent with the Resource Management Plan for the East Dublin Properties. This letter summarizes the methods and results of the peer review. METHODS On February 9, 2010, a WRA biologist conducted a site reconnaissance of the Project Area. Prior to the site visit, background information on potentially occurring federal- and state-listed endangered, threatened and rare plant and wildlife species and sensitive natural communities was compiled through a review of the following resources: • California Natural Diversity Database records (CNDDB) (CDFG 2010) • CDFG publication "Amphibians and Reptile Species of Special Concern in California" (Jennings and Hayes 1994) • CDFG publication "Bird Species of Special Concern in California" (Shuford and Gardali 2008) • Resource Management Plan for the East Dublin Properties (WRA and Zander Associates, 2004). Database searches focused on the Livermore 7.5 minute USGS quadrangle. Additionally, aerial photographs of the Project Area were reviewed. 2169-G East Francisco Blvd., San Rafael, CA 94901 (415) 454-8868 tel (415) 454-0129 fax info@wro-ca.com www.wro-ca.com The following biological and project documents were reviewed: • Burrowing Owl and Raptor Survey for the Jordan Ranch Property, Alameda County, California. Prepared for BJP-ROF Jordan Ranch, LLC. Prepared by Olberding Environmental, Inc. August 2008. Special-Status Plant Survey Report for the Jordan Ranch Property, Alameda County, California. Prepared for BJP-ROF Jordan Ranch, LLC. Prepared by Olberding Environmental, Inc. September 2009. • Biological Resource Analysis for the Jordan Ranch Property, Alameda County, California. Prepared for BJP-ROF Jordan Ranch, LLC. Prepared by Olberding Environmental, Inc. October 2009. • U.S. Fish and Wildlife Service Biological Assessment for the Jordan Ranch Development Project (Corps File No. 25091 S), Alameda County, California. Prepared for BJP-ROF Jordan Ranch, LLC. Prepared by Olberding Environmental, Inc. October 2009. • Preliminary Site Plan, Jordan Property, Dublin, California. Prepared by RJA. December 1, 2009. RESULTS The comments below are generally broken down by report; however, there are some areas of overlap. Burrowina Owl and Raptor Surve WRA concurs with the methodology, findings, and recommendations of the Burrowing Owl and Raptor Survey report. It should be noted that the Cooper's Hawk (Accipiter cooperii) and Sharp- shinned Hawk (Accipiter striatus) were removed from the list of Bird Species of Special Concern in 2008 (Shuford and Gardali). Also, although all raptors (and all native bird species) are protected by the federal Migratory Bird Treaty Act and Fish and Game Code, the following species are not considered special status raptors: Red-tailed Hawk (Buteo jamaicensis) Red-shouldered Hawk (Buteo lineatus) American Kestrel (Falco sparverius) Barn Owl (Tyto alba) Great Horned Owl (Bubo virginianus) Special-Status Plant Survey Report WRA concurs with the methodology, findings, and recommendations of the Special-Status Plant Survey Report for the Jordan Ranch Property. 3 Biological Resources Analysis The Biological Resources Analysis states that it includes a "review of information related to species of plants and animals that could potentially utilize" the Project Area. Within this context, we analyzed the site and the report and found that the following should be addressed based on a recent literature review: Remove the following species from Table 2 in Attachment 2 (they either have been removed from the CDFG Species of Special Concern list, or have never been designated as such): Cooper's Hawk Sharp-shinned Hawk Great Horned Owl Red-tailed Hawk Red-shouldered Hawk American Kestrel Barn Owl Based on our survey of the site and a CDFG publication (Shuford and Gardali 2008), several special status wildlife species that occur in the San Francisco Bay region were not addressed in the biological analysis. To be consistent with recent agency actions, the potential for occurrence of this species on the site should be assessed. The following table supplements Table 2 in Attachment 2. Species Status Habitat Notes Potential to Occur On-site Long-billed Curlew SSC, Coastal estuaries, open Moderate Potential. The grazed Numenius americanus BCC grasslands, and croplands grasslands provide suitable winter are used in winter while foraging habitat for flocks of this nomadic upland short-grass prairies species. Because it does not nest on the and wet meadows are used site, no potential impacts to this species for nesting. will occur. Yellow Warbler SSC Prefer dense riparian Unlikely. The fragmented willows along Dendroica petechia vegetation for breeding. the central drainage do not provide typical habitat for this bird. Saltmarsh Common SSC, Found in freshwater Unlikely. Cattails and fragmented Yellowthroat BCC marshes, coastal swales, willows provide potential habitat, but the Geothlypis trichas sinuosa riparian thickets, brackish Project Area may be within a zone of marshes, and saltwater gradation between this and another marshes. subspecies of Common Yellowthroat; also, the species was rarely encountered in central Contra Costa County (Glover 2009). Yellow-breasted Chat SSC Found in dense, brushy Unlikely. The fragmented willows along Icteria virens thickets and tangles near the central drainage do not provide typical water, and in thick habitat for this bird. understory in riparian woodland. 4 Species Status Habitat Notes Potential to Occur On-site Grasshopper Sparrow SSC Generally prefers Unlikely. Grazed and and conditions in Ammodramus moderately open, tall the Project Area are generally not savannan.m grasslands and prairies with preferred by this species (Glover 2009). patchy bare ground. Bryant's Savannah SSC Generally occurs in tidal Unlikely. The Project Area is located Sparrow marshes, coastal prairie, east of the mapped distribution of this Passerculus and grasslands along coast, species (Shuford and Gardali 2008). sandwichensis alaudinus and inland in the fog belt. Lawrence's Goldfinch BCC Inhabits oak woodlands, Moderate Potential. Scattered willows Carduelis lawrencei chaparral, riparian and perennial water source in the central woodlands, pinyon-juniper drainage provide suitable habitat for this associates, and weedy somewhat nomadic bird. Pre- water during the breeding construction surveys and avoidance season. (Section 8.0 of the report) will reduce project-related impacts to a less than significant level. Western Red Bat SSC They are typically solitary, Unlikely. Trees on the site are scattered Lasiurus blossevillii roosting primarily in the small willows along the central drainage, foliage of trees or shrubs. or the eucalyptus trees near the Day roosts are commonly in residence site; both areas provide poor edge habitats adjacent to roosting habitat. streams or open fields, in orchards, and sometimes in urban areas possibly and association with riparian habitat (particularly willows, cottonwoods, and sycamores). Ringtail CFP It is typically found in remote Unlikely. The Project Area lacks typical Bassariscus astutus areas with trees, brush, and dense cover associated with the Ringtail. rock crevices for cover. It is often found in riparian forests or steep, rocky canyons. SSC: CDFG Species of Special Concern CFP: California fully protected BCC: USFWS Bird Species of Conservation Concern As of March 2010, the California Tiger Salamander is a candidate for listing under the California Endangered Species Act. The Fish and Game Commission determined that listing was warranted, and formal listing is anticipated in mid-2010. It is currently subject to the protections of the California Endangered Species Act. WRA concurs with most of the recommendations provided in Section 8.0 of the Biological Resources Analysis; however, it is our opinion that further CTS and/or CRLF pre-construction surveys (as recommended on Page 34), are unnecessary. Presence of these federal-listed species has been confirmed, and further surveys are not warranted. 5 U .S. Fish and Wildlife Service Biological Assessment It is assumed that the Biological Assessment has not been submitted to the USFWS. Due to the level of impact, it is likely that the USFWS will require detailed information regarding the proposed off-site mitigation area and its management. These and other comments regarding the Biological Assessment are summarized below: • Recommend including installation of permanent CTS/CRLF barrier along perimeter fencing to prevent dispersal into adjacent developed areas. • Although consistent with RMP, agencies unlikely to accept on-site preservation/enhancement as mitigation for on-site impacts to CTS/CRLF. How will the on-site preserve be managed? • Agencies could require more off-site mitigation acreage, as allowed under Section 3.3.1.2 of the RMP, and as a result of the impending state listing of CTS in mid-2010. For example, CDFG may require mitigation for impacts to CTS upland habitat within 1.3 miles of a known or potential breeding pond (similar to situation in Santa Rosa Plain, Sonoma County). • Agencies may not permit off-site relocation of salvaged amphibians. • Applicant will need to request a consistency determination (Fish and Game Code 2080.1) from CDFG regarding the dual-listed CTS. • List of Attachments in Table of Contents do not match actual attachments. • Has USFWS approved use of the Mulqueeney Ranch as off-site mitigation? How will habitat management at the off-site mitigation area be funded? • It is recommended that a detailed mitigation and monitoring plan be developed; the Biological Assessment does not include detailed information regarding the off-site mitigation area, and how it will be managed and monitored. These details will likely need to be in place before USFWS will prepare the Biological Opinion, and CDFG considers a consistency determination. CONCLUSION WRA recommends that field survey reports be updated as indicated; otherwise, we concur with the general conclusions and recommendations of the Burrowing Owl, Rare Plant, and Biological Resources Analysis reports. The Biological Assessment does not include a management plan for the off-site mitigation area, and does not indicate the source of funding for management and monitoring. The USFWS will likely require more detail prior to issuing a Biological Opinion for the project. Recently, the Fish and Game Commission determined that listing of the CTS was warranted, and formal listing is anticipated in mid-2010. It is currently subject to the protections of the California Endangered Species Act. Fish and Game Code Section 2080.1 states the requirements and procedures for a 2080.1 Consistency Determination. Section 2080.1 allows an applicant who has obtained a federal incidental take statement pursuant to a federal Section 7 consultation or a federal Section 10(a) incidental take permit to notify the Director in writing that the applicant has been issued an incidental take statement or an incidental take permit pursuant to the federal Endangered Species Act of 1973. The applicant must submit the federal 6 opinion incidental take statement or permit to the Director of Fish and Game for a determination as to whether the federal document is "consistent" with CESA. Receipt of the application by the Director starts a 30-day clock for processing the Consistency Determination. In order for the Department to issue a Consistency Determination, the Department must determine that the conditions specified in the federal incidental take statement or the federal incidental take permit are consistent with CESA. If the Department determines that the federal statement/permit is not consistent with CESA, the applicant must apply for a State Incidental Take Permit under section 2081(b) of the Fish and Game Code. Please let me know if you have any questions. Sincerely, Jeff Dreier Senior Wildlife Ecologist 7