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to maintain acceptable service ratios, response times or other performance objectives for fire protection <br />services? <br />Finding: Less than significant impact. (DEIR, p. 4.10-4 through 4.10-5.) <br />Facts in Support of Finding: The Project site is within 2.5 miles of 4 existing fire stations and the Project <br />would not result in the need to construct a new fire station or expand an existing station. In addition, <br />Chapter 8-46 of the Santa Ana Municipal Code requires a fire facilities fee be paid prior to the issuance <br />of a building permit for construction of buildings exceeding 2 stories in height, such as the Project. The <br />purpose of the fire facilities fee is to improve fire stations in the City and provide revenue for equipment <br />needed to fight fires in buildings over 2 stories in height. The Project would be required to provide funding <br />to assist in improvement of existing fire facilities and provision of needed equipment. Implementation of <br />the Project would not require new or physically altered fire department facilities. (DEIR, p. 4.10-4 through <br />4.10-5.) <br />For the reasons discussed above and the reasons discussed in the DEIR, impacts associated with this issue <br />would be less than significant, and no mitigation is required. (DEIR, p. 4.10-4 through 4.10-5.) This <br />conclusion also applies, for the same reasons, to the Modified Project. <br />9.14.2 Police Services <br />Threshold: Would the Project result in substantial adverse physical impacts associated with the <br />provision of new or physically altered governmental facilities, or a need for new or physically altered <br />governmental facilities, the construction of which could cause significant environmental impacts, in order <br />to maintain acceptable service ratios, response times or other performance objectives for police <br />protection? <br />Finding: Less than significant impact. (DEIR, p. 4.10-8 through 4.10-9.) <br />Facts in Support of Finding: The Project would result in an incremental increase in demands on law <br />enforcement services but would not be significant when compared to the current demand levels. The <br />residential population of the Project would be approximately 0.27 percent of the City's population and <br />based on the Police Department's 2016 staffing of 1.04 officers per thousand population, the Project would <br />require less than one additional officer. In addition, the Police Department headquarters are 2.5 miles from <br />the Project and within response distance. Furthermore, typical police operations within the Department's <br />Northeast District deploys coverage to be able to respond to calls from services throughout the area. The <br />addition of one officer on patrol would not require the construction or expansion of the City's existing <br />policing facilities. Therefore, the Project would not result in the need for new or physically altered police <br />protection facilities. <br />For the reasons discussed above and the reasons discussed in the DEIR, impacts associated with this issue <br />would be less than significant, and no mitigation is required. (DEIR, p. 4.10-8 through 4.10-9.) This <br />conclusion also applies, for the same reasons, to the Modified Project. <br />9.14.3 Education <br />Threshold: Would the Project result in substantial adverse physical impacts associated with the <br />provision of new or physically altered governmental facilities, or a need for new or physically altered <br />Resolution No. Page 48 of 76 <br />Certification of the Magnolia at the Park EIR <br />