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75D - PH - VMT AND CEQA GUIDELINES
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75D - PH - VMT AND CEQA GUIDELINES
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6/13/2019 5:36:02 PM
Creation date
6/13/2019 5:31:04 PM
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City Clerk
Doc Type
Agenda Packet
Agency
Planning & Building
Item #
75D
Date
6/18/2019
Destruction Year
2024
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Local Guidelines for Implementing the <br />California Environmental Ouality Act (2019) — ENVIRONMENTAL IMPACT REPORT <br />7.13 AIRPORT LAND USE PLAN. <br />When the City prepares an EIR for a project within the boundaries of a comprehensive <br />airport land use plan, or, if such a plan has not been adopted, for a project within two (2) nautical <br />miles of a public airport or public use airport, the City shall utilize the Airport Land Use <br />Planning Handbook published by Caltrans' Division of Aeronautics to assist in the preparation of <br />the EIR relative to potential airport or related safety hazards and noise problems. <br />7.14 GENERAL ASPECTS OF AN EIR. <br />Both a Draft and Final EIR must contain the information outlined in Local Guidelines <br />Sections 7.17 and 7.18. Each element must be covered, and when elements are not separated <br />into distinct sections, the document must state where in the document each element is covered. <br />The body of the EIR shall include summarized technical data, maps, diagrams and similar <br />relevant information. Highly technical and specialized analyses and data should be included in <br />appendices. Appendices may be prepared in separate volumes, but must be equally available to <br />the public for examination. All documents used in preparation of the EIR must be referenced. <br />An EIR shall not include "trade secrets," locations of archaeological sites and sacred lands, or <br />any other information subject to the disclosure restrictions of the Public Records Act <br />(Government Code Section 6250, et seq.). <br />The EIR should discuss environmental effects in proportion to their severity and <br />probability of occurrence. Effects dismissed in the Initial Study as clearly insignificant and <br />unlikely to occur need not be discussed. <br />The Initial Study should be used to focus the EIR so that the EIR identifies and discusses <br />only the specific environmental problems or aspects of the project that have been identified as <br />potentially significant or important. A copy of the Initial Study should be attached to the EIR or <br />included in the administrative record to provide a basis for limiting the impacts discussed. <br />The EIR shall contain a statement briefly indicating the reason for determining that <br />various effects of a project that could possibly be considered significant were not found to be <br />significant and consequently were not discussed in detail in the EIR. The City should also note <br />any conclusion by it that a particular impact is too speculative for evaluation. <br />The EIR should omit unnecessary descriptions of projects and emphasize feasible <br />mitigation measures and alternatives to projects. <br />7.15 USE OF REGISTERED CONSULTANTS IN PREPARING EIRS. <br />An EIR is not a technical document that can be prepared only by a registered consultant <br />or professional. However, state statutes may provide that only registered professionals can <br />prepare certain technical studies that will be used in an EIR, or that will control the detailed <br />design, construction, or operation of the proposed project and that will be prepared in support of <br />an EIR. <br />2019 City of Santa Ana Local Guidelines 7-10 ®Best Best & Krieger LLP <br />75D-112 <br />
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