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75D - PH - VMT AND CEQA GUIDELINES
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75D - PH - VMT AND CEQA GUIDELINES
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Last modified
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) TYPES OF EIRS <br />The Focused EIR must also examine the following: <br />(a) Significant effects discussed in the Master EIR for which substantial new information <br />exists that shows those effects may be more significant than described in the Master EIR; <br />(b) Those mitigation measures found to be infeasible in the Master EIR for which substantial <br />new information exists that shows the effects may be more significant than described in <br />the Master EIR; and <br />(c) Those mitigation measures found to be infeasible in the Master EIR for which substantial <br />new information exists that shows those measures may now be feasible. <br />The Focused EIR need not examine the following effects: <br />(a) Those that were mitigated through Master EIR mitigation measures; or <br />(b) Those that were examined in the Master EIR in sufficient detail to allow project -specific <br />mitigation or for which mitigation was found to be the responsibility of another agency. <br />A Focused EIR may be prepared for a multifamily residential project not exceeding 100 <br />units or a mixed use residential project not exceeding 100,000 square feet even though the <br />project was not identified in a Master EIR, if the following conditions are met: <br />(a) The project is consistent with a general plan, specific plan, community plan, or zoning <br />ordinance for which an EIR was prepared within five (5) years of the Focused EIR's <br />certification; <br />(b) The project does not require the preparation of a Subsequent or Supplemental EIR; and <br />(c) The parcel is surrounded by immediately contiguous urban development, was previously <br />developed with urban uses, or is within one-half mile of a rail transit station. <br />A Focused EIR for these projects should be limited to potentially significant effects that <br />are project -specific and/or which substantial new information shows will be more significant <br />than described in the Master EIR. No discussion shall be required of alternatives to the project, <br />cumulative impacts of the project, or the growth -inducing impacts of the project. (See State <br />CEQA Guidelines Section 15179.5.) <br />8.13 SPECIAL REQUIREMENTS FOR REDEVELOPMENT PROJECTS. <br />An EIR for a redevelopment plan may be a Master EIR, Program EIR or Project EIR. An <br />EIR for a redevelopment plan must specify whether it is a Master EIR, a Program EIR or a <br />Project EIR. Normally, the City will not be a Lead Agency for a redevelopment plan. However, <br />if the City is a Responsible Agency on such a project, the City should endeavor to ensure that the <br />county and/or applicable city as the case may be, as Lead Agency, analyzes these impacts in <br />accordance with CEQA. <br />If a Program EIR is prepared for a redevelopment plan, subsequent activities in the <br />redevelopment program will be subject to review if they would have effects that were not <br />examined in the Program EIR. The Lead Agency should use a written checklist or similar device <br />to document the evaluation of the site and the proposed activity to determine whether the <br />environmental effects of the operation were indeed covered in the Program EIR. If the Lead <br />Agency finds that no new effects could occur, no new mitigation measures would be required or <br />2019 City of Santa Ana Local Guidelines 8-8 ®Best Best & Krieger LLP <br />75D-145 <br />
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