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Catalog of City of Santa Ana Draft General Plan Update Comments Received Post February 15, 2022
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<br />Public Comments/Concerns
<br />Draft Policies and Implementation Actions Addressing Comments/Concerns
<br />City Response
<br />Source of Comment
<br />73
<br />Suggested Language: Modify the Open Space Element to define "open space"
<br />Recommended Definition Added to GP Glossary: Open Space. Recreational and green spaces,
<br />Open Space definition recommended to be included in the General Plan Introduction, Glossary
<br />Collaborative Letter
<br />as follows: As used in the Open Space Element, "open space" means "any
<br />including parks, commercial open space, manicured landscaped areas, and public facilities such as
<br />section.
<br />(MPNA, OCEJ,
<br />trail corridors, water channels and rail infrastructure.
<br />publicly -accessible parcel or area of land or water, whether publicly or
<br />THRIVE, & Rise Up
<br />privately -owned, that is reserved for the purpose of preserving natural
<br />Willowick) received
<br />resources, for the protection of valuable environmental features, or for
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<br />providing outdoor recreation or education."
<br />Willowick letter dated
<br />9.15.2021
<br />74
<br />Amend the Municipal Code to include this definition of "open space," which is
<br />Recommended Definition Added to GP Glossary: Open Space. Recreational and green spaces,
<br />The definitions used in the Municipal Code will be amended for consistency after the General
<br />Collaborative Letter
<br />not currently defined in the code.
<br />including parks, commercial open space, manicured landscaped areas, and public facilities such as
<br />Plan Update, Parks Master Plan, and Residential Fee analyses are completed.
<br />(MPNA, OCEJ,
<br />trail corridors, water channels and rail infrastructure.
<br />THRIVE, & Rise Up
<br />Willowick) received
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<br />Willowick letter dated
<br />9.15.2021
<br />75
<br />Suggested Language: Modify the Open Space Element to define "park
<br />Recommended Definition Added to GP Glossary: Park Deficient Area. Areas of the community that
<br />Park Deficient Area definition recommended to be included in the General Plan Introduction,
<br />Collaborative Letter
<br />deficient area" as follows: As used in the Open Space Element, "park deficient
<br />are outside the standard public parkland service radius such as 1/2 mile for Community Parks and %
<br />Glossary section.
<br />(MPNA, OCEJ,
<br />area" means "a geographic area which is located more than 0.25 miles from
<br />mile for Neighborhood Parks, respectively.
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<br />the nearest public park of 5 acres or less and more than 0.5 miles from the
<br />Willowick) received
<br />nearest public park larger than 5 acres as measured along the shortest
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<br />available pedestrian route."
<br />Willowick letter dated
<br />9.15.2021
<br />76
<br />Suggested Language: Modify the Open Space Element to define
<br />Recommended Definition Change: Environmental Justice Community. A disadvantage community
<br />Definition needs to be consistent with Public Resources Code.
<br />Collaborative Letter
<br />"environmental justice area" as follows: As used in the Open Space Element,
<br />as defined by Government Code Section 65302(h)(4)(A), which is an area identified by the California
<br />(MPNA, OCEJ,
<br />Environmental Protection Agency pursuant to Section 39711 of the Health and Safety Code or a low-
<br />"environmental justice area" means "a disadvantaged community as defined
<br />THRIVE, & Rise Up
<br />income area that is disproportionately affected by environmental pollution and other hazards that
<br />by Government Code Section 65302(h)(4)(A), i.e. a low-income area that is
<br />Willowick) received
<br />can lead to negative health effects, exposure, or environmental degradation. The City uses a
<br />disproportionately affected by environmental pollution and other hazards
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<br />that can lead to negative health effects, exposure, or environmental
<br />mapping tool from CaIEPA called CalEnviro5creen (CES) to identify the most vulnerable and
<br />Willowick letter dated
<br />degradation, or an area identified by the California Environmental Protection
<br />disadvantaged areas in Santa Ana (in the context of SB 1000). The CES tool measures indicators for
<br />9.15.2021
<br />Agency pursuant to Section 39711 of the Health and Safety Code."
<br />every census tract in California related to people's exposure to pollution and quality of life. The-
<br />Fesultc feF caeh _..nsus.Fact and Fed against Fy tact
<br />are eemb:ned measLi eve ether eenS..c
<br />ftern 'east iffilaaeted
<br />predueing a earnpesite seeFe that ranks eensus tFaets the te the Mast
<br />77
<br />Suggested New Policy: Policy OS-1.14: No Net Loss of Open Space. There shall
<br />N/A
<br />Action OS-1.4 already addresses this and no additional policy is recommended.
<br />Collaborative Letter
<br />be no net loss of Open Space in the city, excluding any acreage of a golf
<br />(MPNA, OCEJ,
<br />course that is redeveloped solely for 100% below -market rate housing. Any
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<br />Open Space lost due to development shall be replaced at a ratio of at least
<br />Willowick) received
<br />1:1.
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<br />Willowick letter dated
<br />9.15.2021
<br />City Council
<br />30 — 16
<br />4/19/2022
<br />Page 14
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