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South Coast Technology Center Project <br />CEQA Exemption 15183 <br />4.19.4 Applicable GPU PEIR Regulatory Requirements/Mitigation Measures: <br />Refer to Section 4.6, Energy, for RR E-1 through RR E-5 and RR E-7, and Section 4.10, Hydrology <br />and Water Quality, for RR HYD-1, RR HYD-2, RR HYD-4, and RR HYD-5. <br />RR U-2 Any new connections to the Orange County Sanitation District system or <br />expansion of a previous connection shall pay a capital facilities charge in <br />accordance with Ordinance No. OCSD-40. <br />RR U-5 Any development implemented under the General Plan Update shall abide by the <br />water conservation and efficiency requirements detailed in Chapter 8, Article XVI, <br />Chapter 39, Article VI and Chapter 41, Article XVI of the Santa Ana Municipal <br />Code. <br />RR U-6 Water connection fees shall be paid in accordance with Chapter 39, Article II of the <br />City's Municipal Code and plumbing shall be installed in compliance with Chapter <br />8, Article III. <br />RR U-7 All development pursuant to the General Plan Update shall comply with Section <br />4.408 of the 2019 California Green Building Code Standards, which requires new <br />development projects to submit and implement a construction waste management <br />plan in order to reduce the amount of construction waste transported to landfills. <br />RR U-8.144 Storm drain shall be installed in compliance with Chapter 8, Article III, of the Santa <br />Ana Municipal Code. <br />RR U-8.234 All development pursuant to the General Plan Update shall store and collect <br />recyclable materials in compliance with Assembly Bill 341. Green waste will be <br />handled in accordance with Assembly Bill 1826. <br />RR U-10 New buildings are required to achieve the current California Building Energy and <br />Efficiency Standards (Title 24, Part 6) and California Green Building Standards <br />Code (CALGreen) (Title 24, Part 11). <br />RR U-11 All new appliances would comply with the 2012 Appliance Efficiency Regulations <br />(Title 20, California Code of Regulations, Sections 1601 through 1608) <br />4.20 Wildfire <br />4.20.1 GPU PEIR Findings <br />As stated in the GPU PEIR, the City does not contain any very high fire hazard severity zones <br />(VHFHSZ). The CEQA Guidelines require analysis of wildfire risk in state responsibility areas <br />(SRAs) and/or lands classified as VHFHSZs. According to the GPU PEIR, the nearest fire hazard <br />severity zone (FHSZ) in an SRA to the City of Santa Ana is a high FHSZ about four miles east <br />along the western edge of Loma Ridge. The nearest FHSZ in a local responsibility area (LRA) is <br />about 3.8 miles at the southern tip of the Peters Canyon Regional Park. Thus, buildout of the <br />General Plan Update would not substantially impair an adopted emergency response plan or <br />emergency evacuation plan, exacerbate wildfire risks thereby creating elevated particulate <br />44 Please note that there was an error in the numbering of RRs in the GPU EIR and two RR U-8 requirements are <br />listed. In order to avoid confusion for the purposes of this document, we have renumbered them as RR U-8.1 and <br />RR U-8.2. <br />July 2024 Page 99 <br />