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require that no material or waste shall be deposited upon a subject parcel in such form or <br /> manner that it may be transferred off the parcel by natural causes or forces and that all <br /> materials or wastes which might cause fumes or dust, or which constitute a fire hazard, or <br /> which may be edible by or otherwise be attractive to rodents or insects shall be stored <br /> outdoors only in closed containers. Land or buildings shall not be used or occupied in any <br /> manner so as to create any fire, explosive or other hazard. All activities involving the use or <br /> storage of combustible, explosive, caustic, or otherwise hazardous materials shall comply with <br /> all applicable local, State, and Federal safety standards and shall be provided with adequate <br /> safety devices against the hazard of fire and explosion, and adequate firefighting and fire <br /> suppression equipment in compliance with City of Santa Ana regulations. The burning of waste <br /> materials in open fires without written approval of the Fire Department is prohibited. No <br /> activities shall be permitted which emit dangerous radioactivity at any point nor shall electrical <br /> disturbances which adversely affect the operation of any equipment, other than that of the <br /> creator of such disturbances, be allowed. No use, activity or process shall cause <br /> electromagnetic interference with normal radio and television reception, or with the function of <br /> other electronic equipment beyond the property line of the site in which it is situated. All uses, <br /> activities and processes shall comply with applicable Federal Communications Commission <br /> regulations. <br /> Any future development within the TZC area requiring discretionary action would continue to <br /> be subject to a project-level CEQA review at the time an application is filed for an individual <br /> project. Mitigation measures MM4.5-1 through MM4.5-8 would continue to apply. Therefore, <br /> the project does not trigger new hazards and hazardous materials impacts requiring the <br /> preparation of a subsequent or supplemental EIR. In addition, compliance with the existing <br /> regulations and proposed amendments will assure that potential impacts to hazards and <br /> hazardous materials are not exacerbated. There would be no new or more severe significant <br /> impacts to hazards and hazardous materials. <br /> 5.6 HYDROLOGY AND WATER QUALITY <br /> This section analyzes the effects to hydrology and water quality from implementing the <br /> proposed zoning code regulations. <br /> Would the project: <br /> a. Violate any water quality standards or waste discharge requirements? <br /> b. Substantially deplete groundwater supplies or interfere substantially with groundwater <br /> recharge such that there would be a net deficit in aquifer volume or a lowering of the <br /> local groundwater table level (e.g., the production rate of pre-existing nearby wells <br /> would drop to a level that would not support existing land uses or planned uses for <br /> which permits have been granted)? <br /> c. Substantially alter the existing drainage pattern of the site or area, including through the <br /> alteration of the course of stream or river, in a manner that would result in substantial <br /> erosion or siltation on or off site? <br /> d. Substantially alter the existing drainage pattern of the site or area, including through the <br /> alteration of the course of a stream or river, or substantially increase the rate or amount <br /> of surface runoff in a manner that would result in flooding on or off site? <br /> e. Create or contribute runoff water which would exceed the capacity of existing or <br /> planned <br /> stormwater drainage systems or provide substantial additional sources of polluted <br /> runoff? <br /> January 2025 34 Environmental Analysis <br /> Resolution No. 2025-023 <br /> Page 42 of 65 <br />