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SANTA ANA REZONE PROJECT <br /> INITIAL STUDYIMITIGATED NEGATIVE DECLARATION <br /> expected to remain the same with the exception of the additional 50 EV charging stations (outside of <br /> the overflow parking lot).According to the Trip Generation Assessment, the EV charging component <br /> of the proposed project would be anticipated to generate approximately 876 two-way trips per day, for <br /> a total of 1,122 two-way trips per day for the proposed project.Table 5 shows the trip generation for <br /> the proposed project. <br /> Table 5: Project Trip Generation <br /> AM Peak-hour PM Peak-hour <br /> Project Trip Generation Quantity Units In Out Total In Out Total Daily <br /> Existing Overflow Parking 250 Stalls 20 4 24 3 17 20 246 <br /> External EV Charging 50 Stalls 22 15 37 32 31 63 876 <br /> Station <br /> Proposed Project Total 42 19 61 35 48 83 1,122 <br /> The City's Traffic Impact Study Guidelines does not have any specific trip-based criteria defining <br /> when a Level of Service (LOS) based traffic study should be prepared, although most agencies utilize <br /> a 50 or 100 peak-hour. However, once the trips associated with the new EV component are dispersed <br /> from the proposed project's driveway, the proposed project would likely contribute fewer than 50 net <br /> new peak-hour trips to any off-site intersection.As such, additional analysis was not determined to be <br /> necessary. <br /> The General Plan's Mobility Element governs transportation planning within the City and lays out <br /> goals and policies managing developments affecting pedestrian bicycle, vehicle, and public <br /> transportation. The proposed project would preserve the existing use of the project site as an <br /> overflow parking lot for the Santa Ana Zoo and would not include changes to the existing pedestrian <br /> or bicycle routes adjacent to the project site, including the Class IV Bicycle Track on 1 st Street. The <br /> proposed project would also not include changes to the roadways adjacent to the project site and, <br /> according to the Trip Generation Assessment summarized above, would not produce a significant <br /> amount of new peak-hour vehicle trips.As such, the proposed project would not conflict with the <br /> Mobility Element of the General Plan and impacts would be less than significant. <br /> b) Would the project conflict or be inconsistent with CEQA Guidelines Section 15064.3, <br /> subdivision (b)? <br /> Less than significant impact. CEQA requires all lead agencies to adopt VMT as the measure for <br /> identifying transportation impacts for land use projects. To comply with CEQA, the City of Santa Ana <br /> adopted their City of Santa Ana Traffic Impact Study, referred to in the VMT Screening Evaluation as <br /> the City's Guidelines. The City's Guidelines list standardized screening methods for project-level VMT <br /> analysis that can be used to identify when a proposed land use development project is anticipated to <br /> result in a less than significant impact thereby eliminating the need to conduct a full VMT analysis. <br /> FCS 93 <br /> Hitps-//adginnovations.sharepoin[ Do ,,nh/Publiovoni/Client(PN-JN)10327/03270 7/1SMNG/0327C067 Santa Ana Rzz P-Pr40,wce No. NS-3092 <br /> Page 105 of 118 <br />