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QocuSign Envelope ID: FC7E9346-8A22-4923-BQ05-AA3CA0439841 <br />DUDEK <br />Dudek will prepare a mitigation monitoring and report program for each proposed project that includes <br />mitigation measures. The mitigation monitoring and report program will include all accepted mitigation <br />measures, along with the following: the project period to which the measure applies (i.e., construction, <br />operation, pre--!post-occupancy), future review or reporting requirements involved in a measure, the <br />responsible party for implementing and enforcing the mitigation, requirements for monitoring by outside <br />agencies, and monitoring and reporting frequency. Dudek will also compile the Administrative Record for the <br />City as the project progresses so that we can turn over the files Immediately upon project concluslon- <br />EIRs/EISs <br />Task .l. Ku+(3rf <br />This task will be the same as outlined under Task 1 for NDs/MNDs- <br />Task 2. Project Schedule <br />Dudek will submit a draft schedule at the time of submittal of a detailed work ptan for a task order. <br />Immediately following the kickoff meeting, we will adjust the schedule, as necessary, to reflect our <br />growing understanding of the project and to account for any potential changes in the scope- Schedules <br />for EiRs and EISs should not exceed 18 months in length from initial kickoff to City Council <br />consideration of the Final EIR (or EIR/EIS), unless specific complexities or changes in the project <br />description arise. Our designated project manager will commit our team to the agreed -upon schedule <br />and submit a final schedule to the City. <br />Task 1 NOP/N01 <br />In the preparation of an EIR or EIR/EIS, the environmental documents only need to address potentially <br />significant impacts. Thus, an IS may be used as part of the notice of preparation (NOPj or NOPINOI <br />process to narrow down the scope of the EIR or EIR/EIS to focus on pertinent issues of concern. Dudek <br />will prepare an ISMOP or ISINOPINOI (the latter if an EIS is required due to federal involvement) to <br />initiate the environmental review process and to solicit comments from agencies, organizations. and <br />interested individuals, The IS will be based on the environmental checklist in Appendix G of the CEQA <br />Guidelines. We will submit the administrative draft ISINOP or ISINOPINOI to the City (and the federal <br />lead agency) for review. <br />Task 4. Transmittal of the NOP or NOPINOI <br />Dudek will make any final changes and revisions to the ISINOP or ISINOPINOI requested by City (and <br />federal agency) staff. reproduce and distribute the documents for public review to organizations and <br />individuals on a mailing list provided by the City, and prepare appropriate transmittal letters. We will also <br />prepare the notice of completion (for State Clearinghouse involvement). Dudek will distribute the <br />documents to the approved mailing list in both hardcopy and C❑ format, as directed by City staff. We will <br />also coordinate with federal agency staff for publication of the NOI in the Federal Register, provide draft <br />notices for distribution to area newspapers, and provide electronic versions for posting to the City website <br />Following the review of the administrative draft EIR or EIR/EIS by City staff (and the federal lead <br />agency), Dudek will incorporate any final revisions and address any remaining comments as requested <br />by the City (and potentially the federal lead agency). We will provide Spanish translations of the <br />Executive Summary and any other summary documents (e.g., Readers Guide), which will be made <br />available during public review, Padilla and Associates is on our team to assist with public outreach and <br />Spanish translation of meeting notices. <br />On -Call Environmental Services RFP# 21-1.05 23 <br />