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Explanation of the Rationale: The rationale and facts supporting the above finding are fully <br /> developed in Section 4.12, Recreation, pages 4.12-13 through 4.12-15 of the Draft Supplemental <br /> EIR. The following presents a summary of that rationale: <br /> The Project would provide 7.5 acres of public park/recreation and open space, which when <br /> considering the Project's 3,816 residents at maximum buildout, results in a ratio of 2 acres per <br /> 1,000 residents, which is higher than the 1.2 ratio (based on 516.86 acres for 431,629 residents) <br /> assessed in the GPU PEIR for the GPU buildout. Further, the Project would be developing this <br /> park/recreation and open space in the South Bristol Street Focus Area, an area identified by the <br /> GPU PEIR and the 2022 Parks Master Plan that is deficient in public parkland and recreational <br /> resources.Additionally,the Project would be required to pay applicable fees pursuant to Municipal <br /> Code Section 35-108 of Chapter 35, Article 4, and Sections 35-110 and 35-111 of Chapter 35, <br /> Article 4, in accordance with RR REC-1, to be used towards the future expansion or renovation <br /> of parks and recreational facilities in the City, as well as other applicable community facilities <br /> district fees assessed to maintain park facilities. <br /> However, as previously discussed, the Project's provision of parkland would not fully meet the <br /> GPU policy to provide a ratio of 3 acres of parkland for every 1,000 residents. While development <br /> of the Project would not result in significant unmitigable impacts to the environmental resources <br /> such as air quality, cultural resources, geology and soils, greenhouse gas emissions, hazards <br /> and hazardous materials, hydrology and water quality, noise, transportation, and tribal cultural <br /> resources, development and operation of future new or expanded recreational facilities may have <br /> an adverse physical effect on the environment, including impacts relating to air quality, biological <br /> resources, lighting, noise, and traffic. Consequently, impacts from the Project would be potentially <br /> significant. <br /> As discussed in the GPU PEIR, the City of Santa Ana is essentially fully built out and there is <br /> limited available land to develop new parks or expand existing facilities, and there would be no <br /> feasible mitigation measures that would reduce significant impacts related to the City's parkland <br /> to resident ratio to a less-than-significant level. The Project is consistent with the buildout <br /> envisioned in the GPU for the Project area, which was analyzed in the GPU PEIR along with <br /> buildout of the City and found to result in significant and unavoidable impacts related to related to <br /> recreation, based on the possibility that future project-specific developments could result in <br /> significant, adverse physical effects an the environment. The Project's provision of 7.5 acres of <br /> public park and recreation facilities and applicable fees would lessen the impact identified in the <br /> GPU PEIR. Therefore, while the Project would contribute to the significant and unavoidable <br /> recreation impacts disclosed in the GPU PEIR, the Project would not result in a substantial <br /> increase in the severity of the previously identified impacts and would not result in any new <br /> significant impacts. <br /> Cumulative Impacts: The Project would result in cumulative impacts concerning recreation. <br /> Findings: The City finds that specific economic, legal, social, technological, or other <br /> considerations make infeasible the mitigation measures or project alternatives identified in the <br /> Final Supplemental EIR. While changes or alterations have been required in, or incorporated into, <br /> including regulatory requirement RR REC-1 (listed above), the Project to address this significant <br /> effect on the environment, no feasible mitigation measures exist to reduce impacts to a less-than- <br /> significant level. However, pursuant to PRC Section 21081(a)(3), as described in the Statement <br /> Resolution No. 2025-041 <br /> Page 90 of 140 <br />