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To evaluate the potential traffic impacts related to the Modified Project, a Supplemental Traffic Impact <br />Analysis (included as Attachment B to the Clarifications to the Final FIR) was prepared and peer reviewed <br />by a City -selected independent traffic engineer and the City's traffic engineering staff. The Supplemental <br />Traffic hnpact Analysis evaluates operation of 278 multi -family units, which is 22 more units than the <br />Modified Project that consists of 256, and therefore, provides an overstated and conservative analysis of <br />potential impacts. The analysis determined that the Modified Project would develop 48 percent fewer <br />residential units than the Original Project, which would result in 79 fewer a.m. peak hour trips, 96 fewer <br />p.m. peak hour trips, and 1,186 fewer daily trips than the Original Project. Thus, no new impacts related <br />to the volume of vehicular trips would occur from the Modified Project. Additionally, the Modified Project <br />would implement changes to the Main Street and Walkie Way intersection geometries that would result <br />in less than significant impacts to study area intersections, roadway segments, and vehicle queues; which <br />is consistent with the impacts of the Original Project as detailed in the FIR. Based on the foregoing, none <br />of the conditions identified in CEQA Guidelines Section 15088.5 that would trigger the need to prepare a <br />recirculated FIR or other environmental document exist. The Modified Project would not result in either <br />a new significant environmental impact or a substantial increase in the severity of a previously identified <br />impact. (Final EIR, Clarifications to the Final FIR, Section 3.11.) <br />9.15.2 Air Traffic Patterns <br />Threshold: Would the Project result in a change in air traffic patterns, including either an increase <br />in traffic levels or a change in location that results in substantial safety risks? <br />Finding: No impact. (DEIR, p. 2-8, Initial Study, p. 58.) <br />Facts in Support of Finding: The Project does not propose any uses that would affect air traffic patterns <br />or air traffic levels. No portion of the Project would change air traffic patterns by extending into airspace. <br />The closest operating airport is over 6 miles south of the Project site. The Project would not result in a <br />change in air traffic patterns. (DEIR, p. 2-8, Initial Study, p. 58.) <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. 2-8, Initial Study, p. 58.) This <br />conclusion also applies, for the same reasons, to the Modified Project <br />9.15.3 Design Feature Hazards <br />Threshold: Would the Project substantially increase hazards due to a design feature (e.g., sharp <br />curves or dangerous intersections) or incompatible uses (e.g., farm equipment)? <br />Finding: Less than significant impact. (DEIR, pp. 4.11-33.) <br />Facts in Support of Finding: The Project would not result in hazards related to a design feature or <br />incompatible use. The Project driveways include direct access to the parking structure, and access from <br />N. Main Street would be restricted to right -turn ingress/right-turn egress to provide for safe and effective <br />circulation. As noted in the Traffic hnpact Analysis referenced in the DEIR, motorists entering and exiting <br />the Project site would be able to do so comfortably, safely, and without undue congestion. Moreover, and <br />as noted by the Traffic hnpact Analysis, the neighborhood intersections and roadway have adequate <br />capacity to support the Project. (DEIR, pp. 4.11-33.) <br />Resolution No. Page 52 of 76 <br />Certification of the Magnolia at the Park EIR <br />