Loading...
HomeMy WebLinkAbout1. PLN-21-00063 Staff ReportPC Agenda Page 1 Rancho Los Amigos South Campus Specific Plan - PLN-21-00063 July 7, 2021 - Page 2 RECOMMENDATION This presentation is intended to provide the Planning Commission and public an opportunity to review and discuss the proposed project, including the draft PEIR. The presentation is for discussion purposes only, and the Planning Commission is asked to consider and take public comment on the Specific Plan and Environmental Impact Report, the Planning Commission will not take any additional action at this meeting. BACKGROUND A new WSAB line will connect southeast LA County to downtown Los Angeles. The project is expected to provide a direct connection to the Metro C Line (Green), Metro A Line (Blue) and the LA County regional transit network. The WSAB 19-mile corridor project is currently undergoing an Environmental Impact Statement (EIS)/Environmental Impact Report (EIR) process to prepare the corridor for the WSAB. This project is unique because the County of Los Angeles holds sole ownership of all properties within the Specific Plan area. The City of Downey Community Development Department worked closely with the County of Los Angeles, Metro, and community members to ensure that all groups had input regarding the vision and future goals for the area. The Specific Plan Area includes existing County facilities that will remain in use as well as areas with development plans in the works for future County facilities. The City held two Community Workshops throughout the preparation of the Specific Plan. These workshops allowed stakeholders such as community members, residents, and business owners, the opportunity to learn about the planning process and provide valuable feedback on potential uses and the overall vision of the Specific Plan Area. The goals for the Specific Plan were developed through extensive community input and focused discussions with all stakeholders and reflect the intentions of the City of Downey’s General Plan, which is to create a transit oriented, mixed-use, compact and multi-modal environment, promote sustainable principles in design and development, and enhance the pedestrian scale and function of the built environment. The Specific Plan seeks to establish a complementary mix of cultural uses, public spaces, outdoor activities, stronger connections with local neighborhoods, and promote a family-oriented, culturally-enriched, healthy lifestyle. Lastly, the Specific Plan strives to enhance economic development successes in the area while supporting a flexible variety of land uses that further regional transportation and transit planning objectives. Given the intent of the Specific Plan area as a Transit Oriented Development, the Specific Plan includes additional goals and guiding principles, such as encouraging transit-supportive development site wide, and providing a balanced mix of uses around transportation centers and transportation corridors, balanced, flexible, and diverse land uses that support economic development and additional housing opportunities. The Specific Plan also strives to establish land use regulations that support increased pedestrian and bicycle activity and transit usage; and support improvements to public transportation infrastructure, including bus transit and potential rail facilities. On June 7, 2021, the Notice of Availability and the Public Hearing Notice of the pending Program Environmental Impact Report review period and public hearing was published in accordance with the requirements of the Downey Municipal Code. The review period for the PEIR is from June 8th through July 22nd. PC Agenda Page 2 Rancho Los Amigos South Campus Specific Plan - PLN-21-00063 July 7, 2021 - Page 3 DISCUSSION Rancho Los Amigos South Campus Specific Plan (Specific Plan) – Project Description The Specific Plan area is located amongst a mixture of single- and multi-family residential neighborhoods, light industrial facilities, and medical related uses. The area is bounded to the south by Gardendale Street, to the west by industrial facilities, single- and multi-family neighborhoods within the City of South Gate, to the north by Imperial Highway (State Route 90) and the Rancho Los Amigos National Rehabilitation Center, and to the east by an existing single-family residential neighborhood and St. Pius X – St. Matthias Academy. Districts The Land Use Plan for the Rancho Los Amigos South Campus Specific Plan area provides for the development of four districts: Flex Tech/Bio-Medical Sub-District, Transit Oriented Development (TOD) Corridor Sub-District, Regional Public Facilities (RPF) Sub-District, and Community Serving Uses (CS) Sub-District. Rancho Los Amigos South Campus Specific Plan – Sub-Districts Flex Tech/Bio-Medical (FTBM) Sub-District The intent of the Flex Tech/Bio-Medical Sub-District is to promote job-creating office/medical uses and supportive services related to one of the largest medical facilities in the region—the Rancho Los Amigos Rehabilitation Center. The FTBM would integrate existing uses and plan for the long-term potential redevelopment of the large industrial facilities currently in use and encourage grouping a range of light industrial, office, and research uses together to create an innovation hub within Downey. PC Agenda Page 3 Rancho Los Amigos South Campus Specific Plan - PLN-21-00063 July 7, 2021 - Page 4 Regional Public Facilities (RPF) Sub-District The intent of this Sub-District is to compliment regionally serving Los Angeles County facilities that are currently under development. While all zones will accommodate the potential for public uses, this sub-district encompasses the facilities currently under development, including the L.A. County ISD/Probation Headquarters and County Administrative Offices. Transit Oriented Development (TOD) Sub-District The intent of this Sub-District is to create transit-supportive uses around the future Metro Gardendale Transit Station, with the intent to facilitate access to the future WSAB Gardendale Transit station. TOD villages can provide neighborhood serving commercial uses that will help support residents and grow the district into a desirable place for professionals who will have the ability to access a large portion of the region for job opportunities. Community Serving (CS) Uses Sub-District The intent of this Sub-District is to provide community open space and recreational uses accessible to the surrounding sub-districts and adjacent established neighborhoods. The future athletic complex will serve as an anchor for the area, with mature trees and existing landscaped areas. Adoption of the Specific Plan will require that both Specific Plans, SP 85-1 and SP 88-1, be rescinded. The current specific plans are outdated and lack the vision and development standards necessary to allow transit oriented development in the area and takes advantage of the future WSAB Gardendale Transit Station. Rescinding the existing Specific Plans is standard procedure when adopting a new specific plan. General Plan Amendment The General Plan, which is required by state law, serves as a guide to the long-term physical development and growth of a community. It outlines goals that address the issues facing a community and identifies policies and programs to accomplish those goals. The proposed Rancho Los Amigos South Campus Specific Plan will require an amendment to the General Plan to reflect the transit oriented Mixed Use land use designation within the Specific Plan area. Similarly, the specific plan will require the re-zoning of the Specific Plan area to the Rancho Los Amigo South Campus Specific Plan in order to will conform with the associated General Plan Amendment. ENVIRONMENTAL ANALYSIS The environmental impact report (EIR) process, as defined by the California Environmental Quality Act (CEQA), requires the preparation of an objective, full-disclosure document in order to (1) inform agency decision-makers and the general public of the direct and indirect potentially significant environmental effects of a proposed action; (2) identify feasible or potentially feasible mitigation measures to reduce or eliminate potentially significant adverse impacts; and (3) identify and evaluate reasonable alternatives to a project. In accordance with §15168 of the State CEQA Guidelines (Title 14 of the California Code of Regulations [CCR]), the proposed project is a specific plan with the proposed Program EIR (PEIR) that was prepared to assess the potential environmental impacts associated with the programs and policies of the Specific Plan. PC Agenda Page 4 Rancho Los Amigos South Campus Specific Plan - PLN-21-00063 July 7, 2021 - Page 5 The Program Environmental Impact Report (PEIR) was prepared to assess the potential impacts of the proposed specific plan. The PEIR provides detailed information about potentially significant environmental impacts that may result from project implementation. The PEIR developed mitigation measures to reduce the potential effects and acknowledged circumstances where impacts cannot be reduced to a level of insignificance through mitigation or the adoption of alternatives. Scoping Meeting and Public Input CEQA encourages lead agencies to solicit and consider input from other interested agencies, citizen groups, and individual members of the public as early as possible in the EIR process. CEQA also requires the Lead Agency to provide the public with a full disclosure of the expected environmental consequences of a proposed project and with an opportunity to provide comments. The following process was used to obtain input regarding the Project, and in accordance with CEQA, the PEIR. Throughout the preparation of the Specific Plan and PEIR, the City engaged with and collected input from community residents and stakeholders through various community outreach activities. • On November 16, 2017, the City held a Community Workshop for the Project. Attendees learned about the planning process, Project goals and objectives, and the overall Project overview. Workshop attendees also participated in an interactive Post-It note “brainstorming” exercise to identify treasures, challenges, and visions of the Specific Plan area. Participants had the opportunity to provide their thoughts, concerns, and hopes for the future of this corner of the City. • On April 30, 2018, the City held a Land Use Workshop that focused on specific uses and interrelationship of existing and planned land uses within the Specific Plan area. • The City prepared and distributed a Notice of Preparation (NOP) that was available for public review between February 14, 2019 and March 15, 2019. Responses received on the NOP have been considered in this EIR, as described further below. Pursuant to State CEQA Guidelines §15206, the Lead Agency is required to conduct at least one scoping meeting for all projects of statewide, regional, or area-wide significance. The scoping meeting is for jurisdictional agencies and interested persons or groups to provide comments regarding, but not limited to, the range of actions, alternatives, mitigation measures, and environmental effects to be analyzed. The City of Downey hosted a scoping meeting on February 25, 2019, in the Barbara J. Riley Community Center, Downey, California. The meeting was attended by 31 individuals, City staff, and consultants. Environmental issues raised included transportation, air quality, roadway capacity, local/common wildlife and feral cat population, public safety, and hazardous materials (related to demolition). Focus Area In addition, City staff met with County representatives in developing the Focus Area for the PEIR. The environmental review had to consider the multiple concurrent development projects and studies that were in the process during the creation of the plan and were considered when developing the Specific Plan, which reduced the area under PEIR review, which included the County of Los Angeles--Rancho Los Amigos South Campus Project, the Metro West Santa Ana Branch (WSAB)/Metro Project, and the Downey Sports Complex. PC Agenda Page 5 Rancho Los Amigos South Campus Specific Plan - PLN-21-00063 July 7, 2021 - Page 6 The area under review, the Focus Area, covers only 37 percent, or 62.5 acres of the entire Specific Plan area. Over one-half (approximately 63 percent or 109 acres) of the approximately 172-acre Specific Plan area will either remain unchanged, or is committed to other projects being planned and studied by the County and Metro. Potential environmental impacts associated with the County and Metro projects are analyzed under separate environmental documents. Accordingly, environmental impacts associated with the County and Metro projects are not evaluated under this PEIR. The remainder of the Specific Plan area (approximately 37 percent or 62.5 acres) comprises the Project site, referred in this PEIR as the Focus Area. The Focus Area is planned and programmed for a mix of transit-oriented residential, retail, and office uses. Accordingly, this PEIR analyzes the Specific Plan’s proposed development within the Focus Area. The PEIR contains an environmental analysis of the existing/baseline conditions, Project impacts, recommended mitigation measures, and unavoidable significant impacts. The PEIR uses terms in accordance with CEQA to describe the level of significance of adverse impacts. These terms are defined as follows: • No Impact. The proposed Project would not have any measurable impact on the environment. • Less than Significant Impact. An impact that is adverse but that does not exceed the defined thresholds of significance. Less than significant impacts do not require mitigation. • Less than Significant with Mitigation Incorporated. An impact that exceeds the defined thresholds of significance and would or could cause a substantial adverse change in the environment. Standard Conditions and Requirements, and Mitigation Measures are PC Agenda Page 6 Rancho Los Amigos South Campus Specific Plan - PLN-21-00063 July 7, 2021 - Page 7 recommended to prevent the impact, eliminate the impact, or reduce it to a level that is considered less than significant. • Significant and Unavoidable. An impact that exceeds the defined thresholds of significance and cannot be eliminated or reduced to a less than significant level through the implementation of the Mitigation Program. The following section describes measures that would be required of the Project to avoid potential impacts; to minimize potential impacts; to rectify potential impact by restoration; to reduce or eliminate potential impacts over time by preservation and maintenance operations; or to compensate for the potential impact by replacing or providing substitute resources or environment. The PEIR examined the following Issues: Aesthetics Air Quality* Biological Resources* Cultural Resources* Energy Greenhouse Gas Emissions Hazards and Hazardous Materials* Hydrology and Water Quality Land Use and Planning Noise* Population and Housing Public Services and Recreation Transportation Tribal Cultural Resources* Utilities and Service Systems “*” includes suggested mitigation to reduce potential impacts resulting from the Project to a level considered less than significant. Based on the Notice of Preparation and existing conditions within the Specific Plan area and surrounding area, no impacts associated with the following environmental issues would occur and were therefore not further evaluated with the PEIR: Agricultural and Forestry Resources Mineral Resources Geology and Soils Wildfire Mitigation Measures The PEIR found that implementation of the Specific Plan has the potential to cause impacts on the environment, unless mitigation measures are implemented through a Mitigation and Monitoring Program that will reduce or eliminate potential impacts. Mitigation Measures are a means to prevent, reduce or control adverse environmental effects of a project. Implementation may reduce the impacts associated with the implementation of the specific plan to levels considered less than significant. Mitigation measures may also minimize potential impacts by limiting the degree or magnitude of the action and its implementation. In the case of contributing historic structures, a mitigation measure may rectify the impact by repairing, rehabilitating, or restoring the affected environment. Implementation of the Specific Plan may require mitigation measures that reduce or eliminate a potential impact over time by preservation and maintenance operations during the life of the action. Lastly, a mitigation measure may compensate for a potential impact by replacing or providing substitute resources or environments. Air Quality The proposed Specific Plan promotes development of the Focus Area, and a result, has the potential to create impacts on air quality associated with air emissions generated by construction and operation of the proposed uses. Mitigation measures propose to require PC Agenda Page 7 Rancho Los Amigos South Campus Specific Plan - PLN-21-00063 July 7, 2021 - Page 8 additional studies for any residential project located closer than 500-feet to the Metrolink right- of-way. • MM AQ-1 - Proposed development projects that are not exempt from CEQA shall have construction and operational air quality impacts analyzed using the latest available air emissions model, or other analytical method determined in conjunction with the SCAQMD. The results of the air quality impact analysis shall be included in the development project’s CEQA documentation. To address potential localized impacts, the air quality analysis may incorporate SCAQMD’s Localized Significance Threshold analysis or other appropriate analyses as determined in conjunction with South Coast AQMD. If such analyses identify potentially significant regional or local air quality impacts, the City shall require the incorporation of appropriate mitigation to reduce such impacts. • MM AQ-2 - A project-specific Health Risk Assessment (HRA) shall be conducted for future residential development proposed within 500 feet of the Metrolink right-of-way, pursuant to the recommendations set forth in the CARB Air Quality and Land Use Handbook. The HRA shall evaluate a project per the following SCAQMD thresholds: a. Carcinogens: Maximally Exposed Individual risk equals or exceeds 10 in one million. b. Non‐Carcinogens: Emit toxic contaminants that equal or exceed 1 for the Maximally Exposed Individual. The SCAQMD has also established non-carcinogenic risk parameters for use in HRAs. Non-carcinogenic risks are quantified by calculating a “hazard index,” expressed as the ratio between the ambient pollutant concentration and its toxicity or Reference Exposure Level (REL). An REL is a concentration at or below which health effects are not likely to occur. A hazard index less of than one (1.0) means that adverse health effects are not expected. If projects are found to exceed the SCAQMD’s Health Risk Assessment thresholds, mitigation shall be incorporated to reduce impacts to below SCAQMD thresholds. Biological Resources Potential impacts to biological resources are limited to roosting bats sites and the nesting habits of local birds. Between February 1st and August 31st there is potential for birds nesting in trees. The PEIR also found the presence of roosting bats in the area. Both birds and bats are protected by the Migratory Bird Treaty Act and California Fish and Game Code. Future construction, demolition and tree maintenance activities should occur outside of general bird breeding season (February 1st through August 31st) and roosting bat surveys should be conducted throughout the entire Focus Area prior to demolition, construction, and tree maintenance. • MM BIO-1 – Applications for future development facilitated by the Specific Plan Project, where the City has determined a potential for impacts to a nesting birds, shall be required to comply with the following mitigation framework: a. Future project-related construction, demolition, and tree maintenance activities should occur outside of general avian breeding season (February 1 to through August 31) to the extent feasible. If project-related construction, demolition, and tree maintenance activities cannot occur outside general avian breeding season, a pre- activity nesting bird survey shall be conducted prior to the onset of the aforementioned activities, within a maximum of 14 days prior to commencement. The PC Agenda Page 8 Rancho Los Amigos South Campus Specific Plan - PLN-21-00063 July 7, 2021 - Page 9 survey shall be conducted by a qualified biologist. The survey shall be conducted within all suitable nesting habitat located within the area of activity, which includes a 250-foot survey buffer around the activity site to account for all potentially nesting birds on and in the immediate vicinity. If no nesting birds are found, the project- related activities may commence without potential impacts to nesting birds. b. If any active nests or sign of nesting activity (e.g., carrying nesting material or food) is observed during the pre-activity survey, a suitable buffer shall be established around the nest as determined by a qualified biologist to ensure no direct or indirect impacts occur to the nest. Many avian species that would nest in the area are accustomed to urban environments and human activities; therefore, the buffer distance shall be determined based on the location of the nest as well as the species tolerance to human presence. A qualified biologist shall monitor the nesting activity after the buffer is delineated and during typical project-related noises to verify that the buffer is adequately placed and to confirm that breeding is not compromised by the project. Any excessive noise or lighting that could potentially impact the nest shall be directed away from the nest to the greatest extent feasible. The buffer shall remain in place for the duration the nest is active as determined by a qualified biologist. c. If it is determined by the bat biologist that there is a substantial population of bats using the structures in the Focus Area, the construction of bat houses on-site may be recommended by the qualified biologist and in consultation with CDFW. The houses would be constructed prior to any exclusionary actions and would be based upon CDFW-approved designs. If determined necessary by CDFW, post-construction monitoring shall occur seasonally (four times/year) for up to three years, or until the mitigation can be considered successful. Success would be defined as the mitigation roost or roosts being occupied by comparable numbers of bats belonging to the same species as were present pre-construction. • MM-BIO-2 – Applications for future development facilitated by the Specific Plan Project, where the City has determined a potential for impacts to a bats, shall be required to comply with the following mitigation framework: a. A focused roosting surveys shall be conducted throughout the entire project site by a qualified biologist to determine if bat species are presently using the on-site structures for roosting. The survey shall focus on the buildings with the highest potential of supporting roosting bats — those with large enough openings for bats to enter and exit — and it will be conducted at dusk when bats would be exiting their roosts. Exit counts shall be conducted so that no visible light shines on the roost area or openings. Noise and other disturbance must be minimized or eliminated, so that bats will emerge normally from roosts. b. If there is evidence of established maternity bat roosts within the Project site, the biologist shall recommend exclusionary devices or removal efforts, as necessary based on specific species and situational criteria. Exclusionary devices shall not be installed at the entrance to the roosts between April and August, during which time the immature bats are unable to leave the roost. Exclusion devices, if needed, will be installed in late August, after maternity season. c. If it is determined by the bat biologist that there is a substantial population of bats using the structures within the project site, the construction of bat houses on-site may be recommended by the qualified biologist and in consultation with CDFW. The houses would be constructed prior to any exclusionary actions and would be based upon CDFW-approved designs. If determined necessary by CDFW, post- PC Agenda Page 9 Rancho Los Amigos South Campus Specific Plan - PLN-21-00063 July 7, 2021 - Page 10 construction monitoring shall occur seasonally (four times/year) for up to three years, or until the mitigation can be considered successful. Success would be defined as the mitigation roost or roosts being occupied by comparable numbers of bats belonging to the same species as were present pre-construction. Cultural Resources Mitigation measures for cultural resources are proposed to reduce the impacts of future development facilitated by implementation of the Specific Plan. Prior to demolition and construction, a number of mitigation measures are required that will help preserve the history of the Focus Area, which include inventory documentation and commemorative programs that document the historical significance of the Rancho Los Amigos and Los Angeles County Poor Farm. Development of the site will require demolition and removal of previously disturbed areas, as such, retention of a Qualified Archeologist is required to create a monitoring program and provide Cultural Resources Sensitivity Training in the event archeological resources are discovered. • MM CR-1 - Recordation of the Historic District’s Site Plan. The buildings in the Historic District were previously recorded in a HABS report; however, one contributing component of the District was not recorded at the time: the landscape and site plan. Prior to any demolition or ground disturbing activity, the property owner shall retain a Qualified Preservation Professional to prepare a Historic American Landscape Survey (HALS) Level I Standard Format documentation of the Historic District’s Site Plan and landscape setting, including hardscape and softscape elements and features from the historic period of significance, such as roadways, curbs, sidewalks, mature trees, fields, gardens, and green spaces. The HALS documentation of the Historic District’s Site Plan shall record the history of the contributing elements, as well as important events or other significant contributions to the patterns and trends of history with which the property is associated. The HALS documentation of the District’s Site Plan shall include measured and interpretive drawings, large-format black and white photographs, and written histories documenting the District’s evolution over time. Field photographs and notes shall also be included. All documentation components shall be completed in accordance with the Secretary of the Interior’s Standards and Guidelines for Historic American Landscape Survey (HALS standards). The Qualified Preservation Professional shall submit the HALS documentation to the National Park Service for transmittal to the Library of Congress, and archival copies shall be sent to Rancho Los Amigos, County of Los Angles Natural History Museum, Rancho Los Amigos Archives at University of Southern California, and Downey History Center. The Qualified Preservation Professional shall submit proof of submittal to the City no less than 30 days prior to the start of demolition of District contributing buildings, structures, and features. • MM CR-2 - Interpretive and Commemorative Program. The property owner shall retain a Qualified Preservation Professional to develop and implement a publicly accessible interpretive and commemorative program (Program) that captures and incorporates the important cultural history, associations, and significance of the Rancho Los Amigos Historic District for the public benefit, such that the cultural importance of the Los Angeles County Poor Farm and Rancho Los Amigos is retained for future generations. The Program’s requirements shall be outlined in a technical memorandum, including the requirements for maintenance and operation of the program’s elements that may include PC Agenda Page 10 Rancho Los Amigos South Campus Specific Plan - PLN-21-00063 July 7, 2021 - Page 11 but not be limited to an on- or off-site exhibit, commemorative marker, oral history, video, or other publicly accessible media. The interpretive and commemorative program shall be aimed at actively illustrating the following: a. The growth and development of the Los Angeles County Poor Farm and Rancho Los Amigos during the late 19th and early 20th centuries. b. How the activities and events that occurred within the District were associated with changing attitudes toward healthcare throughout the County, State, and Nation. The technical memorandum detailing the Program’s requirements and implementation schedule shall be prepared by a Qualified Preservation Professional and reviewed by interested parties such as the Los Angeles Conservancy prior to commencement of demolition and construction activities. The Qualified Preservation Professional shall submit quarterly reports (i.e., January, April, July, and October) to the City documenting the progress of the Program’s implementation. The Qualified Preservation Professional shall submit documentation illustrating full implementation of the Program to the City within three years of completion of construction. • MM CR-3 – Salvage Plan and Inventory Report. Prior to the start of demolition, the property owner shall retain a Qualified Preservation Professional to prepare a Salvage Plan and Inventory Report outlining salvageable materials and reuse or disposal options. The Qualified Preservation Professional shall conduct an inventory of the Historic District contributors’ key character-defining physical features (e.g., decorative features, window elements, shingling, etc.) appropriate for salvage and interpretation. The Salvage Plan and Inventory Report shall include retention of LACO No. 1301 (Water Tower) for inclusion in the interpretive program. Unsound, decayed, or toxic materials (e.g., asbestos, lead paint, etc.) need not be included in the salvage plan. Once salvageable materials are identified, the Qualified Preservation Professional shall monitor their collection by future applicants’ construction contractor(s) to ensure the items are appropriately salvaged and are not damaged during removal. Salvage of materials can occur prior to the start of demolition, or concurrently with demolition, as feasible. Salvaged materials shall be stored on-site either in existing structures, or in an off-site storage facility, to limit exposure to the elements (rain/sun, vandalism, and theft). Salvaged materials shall first be made available for use in the interpretive program to be developed under MM CR-2 or for use in any potential future restoration/rehabilitation projects on the Focus Area. Salvaged materials that are not re-used on-site or in the interpretative program shall be offered for donation to local historical societies, preservation organizations, or the like, for curatorial and/or educational purposes, or to the general public for reuse in rehabilitation of historic structures. Salvaged materials offered for donation shall be advertised for a period of not less than 30 days on the County’s website and in historic preservation websites, such as Preservationdirectory.com and Oldhouseonline.com, and the Los Angeles Times, as well as by posting in the Specific Plan area itself and by other means as deemed appropriate. The Qualified Preservation Professional shall document these efforts in writing, to include salvage methods, an inventory of salvaged materials, and a summary of all measures taken to encourage receipt of salvaged materials by local historical societies, preservation organizations, and the public. Copies of notices and evidence of publication of such notices, along with a summary of results from the publicity efforts, a list of materials that were donated (if any) and to whom, and an explanation of why materials were not or could not be accepted, shall be PC Agenda Page 11 Rancho Los Amigos South Campus Specific Plan - PLN-21-00063 July 7, 2021 - Page 12 included in a salvage summary document to be submitted to the City within 15 days of the close of the 30-day (or more) notice period. Salvaged materials that are not re-used on-site or in the interpretative program, or accepted for donation, may be disposed of by the City upon receipt of the salvage summary document. • MM CR-4 – Mothballing Plan. The property owner shall retain a Qualified Preservation Professional to prepare and implement a Mothballing Plan for LACO No. 1283 (Casa Consuelo) and LACO No. 1301 (Water Tower). The Mothballing Plan shall outline the proposed mothballing process in compliance with the Secretary of the Interior’s Standards for the Treatment of Historic Properties and consistent with National Park Service Preservation Brief No. 31, Mothballing Historic Buildings. The Plan shall include at a minimum: a condition assessment; measures for structural stabilization as necessary; pest control measures; weatherization efforts as necessary; and other mothballing procedures, such as securing the building, providing adequate ventilation, and developing a maintenance and monitoring plan. Once the buildings/structures have been mothballed, the Qualified Preservation Professional shall review the resulting condition of the buildings/structures and provide the City with documentation confirming that the Plan has been carried out. Mothballing shall be completed within one year of the initiation of construction activities (construction and mothballing can occur simultaneous). Future applicants shall carry out the Plan’s maintenance and monitoring procedures until such time as rehabilitation and/or reuse of the buildings/structures occurs. While there is currently no proposed use for these buildings/structures, any future rehabilitation project will be evaluated for conformance with the Secretary of Interior’s Standards. Conditions of the mothballed buildings/structures shall be reassessed and documented every five years by a Qualified Preservation Professional and recommendations for necessary maintenance/structural repairs shall be completed by the property owner within six months of every reassessment. • MM CR-5 – Avoidance and Protection of Retained Historic Resources During Construction. Prior to the start of construction, a Qualified Preservation Professional shall be retained by the property owner to develop a plan of action for avoidance and protection of the retained historic resources in the Focus Area, the Administration Building (LACO No. 1100); the grouping of the Power Plant (LACO No. 1300); Water Tower (1301); and the Shop, Laundry and Ice Plant (LACO No. 1302), and the Moreton Bay Fig Tree in coordination with the City. The plan shall include at a minimum: a. Notation of the building/structure/feature on construction plans. b. Pre-construction survey to document the existing physical condition of the building/structure/feature. c. Procedures and timing for the placement and removal of a protective barrier(s), such as protective wood boards, bracing or framing to protect fragile fenestration and other exposed architecture features and materials, protective fencing and/or concrete or water-filled plastic K-rails around each retained building/structure/feature. d. Monitoring of the installation and removal of protective barriers by the Qualified Preservation Professional, or his or her designee. e. Monitoring of the condition of the building/structure/feature at regular intervals during the duration of demolition and construction including vibration monitoring and visual inspections by a qualified Preservation Professional. PC Agenda Page 12 Rancho Los Amigos South Campus Specific Plan - PLN-21-00063 July 7, 2021 - Page 13 f. Post-construction survey to document the condition of the building/structure/feature after completion of the Project. g. Preparation of a technical memorandum documenting the pre-construction and post- construction conditions of historic structures and compliance with protective measures outlined in this mitigation measure. The plan shall comply with the Secretary of the Interior’s Standards for the Treatment of Historic Properties (Standards) and shall be memorialized in a technical memorandum, which shall be submitted to City for review and approval. The final approved plan shall be submitted to City no later than 30 days prior to the start of construction including any staging or demolition activities. The plan shall be provided to each construction manager/foreman at the Project kick-off meeting for each phase of work. The technical memorandum documenting the pre-construction and post-construction conditions shall be submitted to the City within 30 days of completion of the Project and removal of the protective barriers. In addition, prior to the start of construction, future project applicants shall inform construction personnel of the location and significance of the retained historic resources, and of the avoidance and protective measures that shall be implemented. If work crews are phased, the City shall ensure that each crew is provided with this information, video, or other publicly accessible media. The interpretive and commemorative program shall be aimed at actively illustrating the following: a. The growth and development of the Los Angeles County Poor Farm and Rancho Los Amigos during the late 19th and early 20th centuries. b. How the activities and events that occurred within the District were associated with changing attitudes toward healthcare throughout the County, state, and Nation. The technical memorandum detailing the Program’s requirements and implementation schedule shall be prepared by a Qualified Preservation Professional and reviewed by interested parties such as the Los Angeles Conservancy and approved by the City prior to commencement of demolition and construction activities. The Qualified Preservation Professional shall submit quarterly reports (i.e., January, April, July, and October) to the City documenting the progress of the Program’s implementation. The Qualified Preservation Professional shall submit documentation illustrating full implementation of the Program to the City within three years of completion of construction. • MM CR-6 – Retention of a Qualified Archaeologist. Prior to any ground-disturbing activities (i.e., demolition, pavement removal, pot-holing or augering, boring, drilling, grubbing, vegetation removal, brush clearance, weed abatement, grading, excavation, trenching, or any other activity that has potential to disturb soil), the Applicant or their designee shall retain a Qualified Archaeologist meeting the Secretary of the Interior’s Professional Qualifications Standards for archaeology to oversee and ensure all mitigation related to archaeological resources is implemented. • MM CR-7 – Construction Worker Cultural Resources Sensitivity Training. Prior to any ground disturbing activities (i.e., demolition, pavement removal, pot-holing or augering, boring, drilling, grubbing, vegetation removal, brush clearance, weed abatement, grading, excavation, trenching, or any other activity that has potential to disturb soil), the Qualified Archaeologist, or his/her designee, and a Native American representative (selected from this Project’s California Native American Heritage Commission [NAHC] contact list), shall conduct cultural resources sensitivity training for all construction PC Agenda Page 13 Rancho Los Amigos South Campus Specific Plan - PLN-21-00063 July 7, 2021 - Page 14 personnel. In the event construction crews are phased, additional training shall be conducted for new construction personnel. Construction personnel shall be informed of the types of archaeological resources that may be encountered, the proper procedures to be enacted in the event of an inadvertent discovery of archaeological resources or human remains (see MM CR-10), confidentiality of discoveries, and safety precautions to be taken when working with cultural resources monitors. The contractor shall ensure and document that construction personnel are made available for and attend the training and retain documentation demonstrating attendance. This training may be conducted in coordination with paleontological resources training required by MM CR-12. • MM CR-8 – Cultural Resources Monitoring Program (CRMP) Prior to any ground- disturbing activity (i.e., demolition, pavement removal, pot-holing or augering, boring, drilling, grubbing, vegetation removal, brush clearance, weed abatement, grading, excavation, trenching, or any other activity that has potential to disturb soil), the Qualified Archaeologist shall prepare the CRMP based on the final City-approved Project design plans. The CRMP shall include: a. Provisions for Archaeological Monitoring. Full-time archaeological monitoring shall be required for all construction-related ground-disturbing activity up to a depth of five feet (depth at which archaeological sensitivity decreases). The CRMP shall outline the archaeological monitor(s) responsibilities and requirements (MM CR-4). b. Procedures for Discovery of Archaeological Resources. Procedures to be implemented if an archaeological resource is discovered shall be fully defined in the CRMP, including stop-work and protective measures, notification protocols, procedures for significance assessments, and appropriate treatment measures. The CRMP shall state that avoidance or preservation in place is the preferred manner of mitigating impacts to archaeological resources, but shall provide procedures to follow should the City determine that avoidance is infeasible. If, based on the Qualified Archaeologist’s recommendation, it is determined that the discovered archaeological resource constitutes a historical resource or unique archaeological resource pursuant to CEQA, avoidance and preservation in place shall be the preferred manner of mitigating impacts to such a resource. Preservation in place may be accomplished by, but is not limited to, avoidance, incorporating the resource into open space, capping, or deeding the site into a permanent conservation easement. If the City determines that preservation in place is infeasible and data recovery through excavation is the only feasible mitigation available, the Qualified Archaeologist in coordination with the City shall prepare and implement an Archaeological Resources Data Recovery and Treatment Plan that provides for the adequate recovery of the scientifically consequential information contained in the archaeological resource. The City shall consult with appropriate Native American representatives in determining treatment of resources that are Native American in origin to ensure cultural values ascribed to the resource, beyond that which is scientifically important, are considered. c. Reporting Requirements. The CRMP shall outline provisions for weekly, monthly, and final reporting. The Qualified Archaeologist shall prepare weekly status reports detailing activities and locations observed (with maps) and summarizing any discoveries for the duration of monitoring to be submitted to the City via email for each week in which monitoring activities occur. Monthly progress reports summarizing monitoring efforts shall be prepared and submitted to the City for the duration of ground-disturbing activity. The Qualified Archaeologist shall prepare a PC Agenda Page 14 Rancho Los Amigos South Campus Specific Plan - PLN-21-00063 July 7, 2021 - Page 15 draft CRMP and submit it to the City within 30 days of completion, or within 120 days of completion of treatment for significant discoveries if treatment extends beyond the cessation of monitoring. The final Archaeological Resources Monitoring Report shall be submitted to the City within 15 days of receipt of City comments. The Qualified Archaeologist shall also submit the final Archaeological Resources Monitoring Report to the South Central Coastal Information Center. If human remains are encountered, a confidential report documenting all activities shall be submitted to the NAHC within 90 days of completion of any treatment. d. Curation Requirements. Any historic-period archaeological materials that are not Native American in origin shall be curated at an American Association of Museums accredited repository that meets 36 Code of Federal Regulations (CFR) 79.9 standards. If no accredited repository accepts the collection, then it may be curated at a non-accredited repository as long as it meets the minimum 36 CFR 79.9 standards. If neither an accredited nor a non-accredited repository accepts the collection, then it may be offered to a public, non-profit institution with a research interest in the materials, or donated to a local school or historical society in the area for educational purposes, to be determined by the Qualified Archaeologist in consultation with the City. Disposition of Native American archaeological materials shall be determined through consultation between Native American representatives, the Qualified Archaeologist, and the City. e. Protocols for Native American Input. The CRMP shall outline the role and responsibilities of Native American Tribal representatives. It shall include communication protocols, an opportunity and timelines for review of cultural resources documents related to archaeological discoveries that are Native American in origin, and provisions for Native American monitoring in the event of archaeological discoveries that are Native American in origin. The CRMP shall include provisions for Native American monitoring during testing and data recovery efforts for discovered resources that are Native American in origin. • MM CR-9 – Archaeological Monitoring. All ground-disturbing activity (i.e., demolition, pavement removal, pot-holing or augering, boring, drilling, grubbing, vegetation removal, brush clearance, weed abatement, grading, excavation, trenching, or any other activity that has potential to disturb soil) to a depth of 5.0 feet (depth at which archaeological sensitivity decreases) shall be monitored by an archaeological monitor(s) familiar with the types of resources that could be encountered and shall work under the Qualified Archaeologist’s direct supervision. The Qualified Archaeologist shall determine the number of archaeological monitors required on-site during ground-disturbing activities based on the construction scenario, pieces of equipment operating at the same time, the distance between those pieces of equipment, and the pace at which equipment is working, with the goal of monitors being able to effectively observe soils as they are exposed. The archaeological monitor(s) shall keep daily logs detailing the types of activities and soils observed, and any discoveries. Archaeological monitor(s) shall have the authority to halt and re-direct ground-disturbing activities in the event of a discovery until it has been assessed for significance and treatment implemented, if necessary, based on the Qualified Archaeologist’s recommendations in coordination with the City, and the Native American representatives if the resource is Native American in origin, and in accordance with the CRMP protocols and procedures (see MM CR-5). • MM CR-10 – Unanticipated Discovery. In the event that human remains are discovered or unearthed, all earth-disturbing work within a 100-meter radius of the location of the human remains shall be temporarily suspended or redirected by the applicant until a forensic expert retained by the applicant has identified and evaluated the nature and PC Agenda Page 15 Rancho Los Amigos South Campus Specific Plan - PLN-21-00063 July 7, 2021 - Page 16 significance of the find, in compliance with State CEQA Guidelines §15064.5(f). If human remains of Native American origin are discovered or unearthed, the applicant shall contact the consulting tribe, as detailed in MM TCR-1, regarding any finds and provide information after the archaeologist makes his/her initial assessment of the nature of the find, so as to provide Tribal input concerning significance and treatment. After the find has been appropriately mitigated, as determined and documented by a qualified archaeologist, work in the area may resume. • MM CR-11 – Retention of a Qualified Paleontologist. Prior to start of any ground- disturbing activities (i.e., demolition, pavement removal, pot-holing or auguring, boring, drilling, grubbing, vegetation removal, brush clearance, weed abatement, grading, excavation, trenching, or any other activity that has potential to disturb soil), the property owner shall retain a Qualified Paleontologist meeting the Society of Vertebrate Paleontology (SVP) standards (SVP, 2010). The Qualified Paleontologist shall provide technical and compliance oversight of all work as it relates to paleontological resources, shall attend the Project kick-off meeting and Project progress meetings on a regular basis, and shall report to the Project Site in the event potential paleontological resources are encountered. • MM CR-12 – Construction Worker Paleontological Resources Sensitivity Training. Prior to the start of any ground-disturbing activities (i.e., demolition, pavement removal, pot- holing or auguring, boring, drilling, grubbing, vegetation removal, brush clearance, weed abatement, grading, excavation, trenching, or any other activity that has potential to disturb soil), the Qualified Paleontologist, or his/her designee, shall conduct construction worker paleontological resources sensitivity training. In the event construction crews are phased, additional training shall be conducted for new construction personnel. The training shall focus on the recognition of the types of paleontological resources that could be encountered within the Focus Area, the procedures to be followed if they are found, confidentiality of discoveries, and safety precautions to be taken when working with paleontological monitors. The property owner shall ensure that construction personnel are made available for and attend the training and retain documentation demonstrating attendance. This training may be conducted in coordination with cultural resources training required by MM CR-7. • MM CR-13 – Paleontological Resources Monitoring. Full-time paleontological resources monitoring shall be conducted for all ground disturbing activities at or below five feet (depth at which paleontological resources sensitivity increases). The Qualified Paleontologist shall spot check the excavation on an intermittent basis and recommend whether the depth or frequency of required monitoring should be revised based on his/her observations. Paleontological resources monitoring shall be performed by a qualified paleontological monitor (meeting the standards of the SVP) under the direction of the Qualified Paleontologist. The number of paleontological monitors required to be on-site during ground disturbing activities shall be determined by the Qualified Paleontologist and shall be based on the construction scenario, specifically the number of pieces of equipment operating at the same time, the distance between these pieces of equipment, and the pace at which equipment is working, with the goal of monitors being able to effectively observe soils as they are exposed. Monitors shall have the authority to temporarily halt or divert work away from exposed fossils in order to recover the fossil specimens. Any significant fossils collected during project-related excavations shall be prepared to the point of identification and curated into an accredited repository with retrievable storage. Monitors shall prepare daily logs detailing the types of activities and soils PC Agenda Page 16 Rancho Los Amigos South Campus Specific Plan - PLN-21-00063 July 7, 2021 - Page 17 observed, and any discoveries. The Qualified Paleontologist shall prepare weekly status reports detailing activities and locations observed (with maps) and summarizing any discoveries for the duration of monitoring to be submitted to the City of Downey via email for each week in which monitoring activities occur. Monthly progress reports summarizing monitoring efforts shall be prepared and submitted to the City for the duration of ground disturbance. The Qualified Paleontologist shall prepare a draft Paleontological Resources Monitoring Report and submit it to the City within 30 days of completion of the monitoring program, or within 120 days of completion of treatment for significant discoveries should treatment extend beyond the cessation of monitoring. The final Paleontological Resources Monitoring Report shall be submitted to the City within 15 days of receipt of City comments. If significant fossils are recovered, the final report shall also be filed with the Natural History Museum of Los Angeles County and the certified repository. • MM CR-14 – Inadvertent Discovery of Paleontological Resources. If construction or other Project personnel discover any potential fossils during construction, regardless of the depth of work or location, work at the discovery location shall cease in a 50-foot radius of the discovery until the Qualified Paleontologist has assessed the discovery and made recommendations as to the appropriate treatment. If the find is deemed significant, it shall be salvaged following the standards of the SVP (SVP, 2010) and curated with a certified repository. Hazards and Hazardous Materials Project implementation will promote development of the specific plan area, and result in demolition of existing structures in the Focus Area. Demolition of structures built prior to the 1978 may contain asbestos and lead-based paints. The mitigation measures address the transport, use, or disposal of hazardous materials associated with future demolition of existing structures and development in the Focus Area. Furthermore, a Phase I Environmental Site Assessment is required to identify current environmental conditions prior to demolition or construction activities, and to determine if further sampling/remedial activities are required. • MM HAZ-1 – Prior to any renovation, or demolition, grading or building permit approval, a formal Phase I Environmental Site Assessment (ESA) shall be prepared for any vacant, commercial, and industrial properties involving hazardous materials or waste. The Phase I ESA shall be prepared in accordance with ASTM Standard Practice E 1527-13 or the Standards and Practices for All Appropriate Inquiry (AAI), prior to any land acquisition, demolition, or construction activities. The Phase I ESA would identify specific Recognized Environmental Conditions (RECs), which may require further sampling/remedial activities by a qualified hazardous materials Environmental Professional with Phase II/site characterization experience prior to land acquisition, demolition, and/or construction. The Environmental Professional shall identify proper remedial activities, if necessary. • MM HAZ-2 – If the contractor discovers unknown wastes or suspect materials during construction that are believed to involve hazardous waste or materials, the contractor shall: a. Immediately cease work in the suspected contaminant’s vicinity, and remove workers and the public from the area; b. Notify the County’s Project Engineer; c. Secure the area as directed by the Project Engineer; and PC Agenda Page 17 Rancho Los Amigos South Campus Specific Plan - PLN-21-00063 July 7, 2021 - Page 18 d. Notify the implementing agency’s Hazardous Waste/Materials Coordinator. The Hazardous Waste/Materials Coordinator shall advise the responsible party of further actions that shall be taken, if required. Noise Impacts related to noise and vibrations may occur during the construction phase of the project. Noise reduction programs are required for all construction and demolition activities to reduce any noise impacts on the surrounding residential areas. Additionally, mitigation measures must be implemented to protect any historic structure located within 100 feet of construction activity. • MM NOI-1 – To reduce construction-related noise impacts, where construction activities would exceed the standards established in DMC §4606.5 (Construction Noise), the Applicant shall require construction contractors to implement a site-specific Noise Reduction Program, which includes the following measures, ongoing through demolition, grading, and/or construction: a. Equipment and trucks used for project construction shall utilize the best available noise control techniques (e.g., improved mufflers, equipment redesign, use of intake silencers, ducts, engine enclosures, and acoustically-attenuating shields or shrouds), wherever feasible. b. Impact tools (e.g., jackhammers, pavement breakers, and rock drills) used for construction shall be hydraulically or electronically powered wherever possible to avoid noise associated with compressed air exhaust from pneumatically powered tools. However, where use of pneumatic tools is unavoidable, an exhaust muffler shall be used (this muffler can lower noise levels from the exhaust by up to approximately 10 dBA). External jackets on the tools themselves shall be used where feasible (this can achieve an approximately 5.0-dBA reduction. Quieter procedures shall be used, such as drills rather than impact equipment, whenever feasible. c. Stationary construction-related noise sources shall be located as far from adjacent receptors as possible, and they shall be muffled and incorporate insulation barriers, or other measures to the extent feasible. • MM NOI-2 – Prior to demolition, grading, or building permit approval, the Applicant shall submit to the Planning Division and Community Development Department a list of measures to respond to and track complaints pertaining to construction noise, ongoing throughout demolition, grading, and/or construction. At minimum, these measures shall include the following: a. A procedure to the public for notifying the City’s Code Compliance Officer and Police Department (during regular construction hours and off-hours); b. A requirement for a sign to be posted by the Applicant on-site specifying the permitted construction days and hours, and notification procedure, and who to notify in the event of a noise-related concern. The sign shall also include the construction contractor’s telephone numbers (during regular construction hours and off-hours); and c. A requirement for a preconstruction meeting to be held with the Applicant and general contractor/on-site project manager to confirm that noise measures and PC Agenda Page 18 Rancho Los Amigos South Campus Specific Plan - PLN-21-00063 July 7, 2021 - Page 19 practices (including construction hours, neighborhood notification, posted signs, etc.) are completed. • MM NOI-3 – Vibratory Equipment for Historic Buildings. To avoid or minimize potential construction vibration damage to structural or finish materials on on-site historic buildings, the condition of such materials shall be documented by a qualified preservation consultant, prior to initiation of construction. During construction, the contractor shall install and maintain at least two continuously operational automated vibrational monitors on any on-site historic structures within 100 feet of active construction activity. The monitors must be capable of being programmed with two predetermined vibratory velocities levels: a first-level alarm equivalent to a 0.45 inch per second at the face of the building and a regulatory alarm level equivalent to 0.5 inch per second at the face of the building. The monitoring system must produce real-time specific alarms (via text message and/or email to on-site personnel) when velocities exceed either of the predetermined levels. In the event of a first-level alarm, feasible steps to reduce vibratory levels shall be undertaken, including but not limited to halting/staggering concurrent activities and utilizing lower-vibratory techniques. In the event of an exceedance of the regulatory level, work in the vicinity shall be halted and the historic structure visually inspected for damage. Furthermore, once construction has been completed, a qualified preservation consultant shall conduct a final visual inspection of the on-site historic structures to determine if any damage has occurred. Results of the inspections must be logged and submitted to the City. In the event damage occurs to historic finish materials due to construction vibration, such materials shall be repaired in consultation with a qualified preservation consultant. • MM NOI-4 – Vibratory Equipment for Residential Receptors. Use of high impact, heavy- duty equipment shall be limited to the extent feasible within 25 feet of residential receptors. Where feasible, equipment or alternative techniques that would generate vibration velocities not exceeding 0.04 in/sec PPV at 25 feet shall be utilized. • MM NOI-5 – Notify Residences. Prior to large bulldozers, large loaded trucks, and vibratory compactor/rollers being operated at the Specific Plan area within 50 feet of an occupied residence, the Project Contractor(s) shall notify the affected residential property owners in writing of upcoming construction including the anticipated start and end dates and hours of operation. This restriction does not apply to trucks on a public right-of-way. Tribal Cultural Resources Similar to the Cultural Resources section above, future demolition and construction activities associated with the implementation of the Specific Plan may affect tribal and cultural resources, thus mitigation measures are proposed to appropriately identify and preserve resources in the event of a discovery. Inadvertent discovery of archaeological resources require the services of a Qualified Archaeologist, and if those resources are found to be Native American in origin, a Native American monitor from a culturally and geographically affiliated Tribe shall be contacted. • MM TCR-1 – Inadvertent Discovery of Archaeological Resources. In the event that archaeological resources are encountered during ground-disturbing activities, all activity within a 100-foot radius of the find shall cease and the CRMP protocols and procedures for discoveries shall be implemented (see MM CR-8). The Qualified Archaeologist shall evaluate the discovery for potential significance. If the Qualified Archaeologist determines that the resource may be significant (i.e., meets the definition for historical PC Agenda Page 19 Rancho Los Amigos South Campus Specific Plan - PLN-21-00063 July 7, 2021 - Page 20 resource in CEQA Guidelines §15064.5(a) or unique archaeological resource in PRC §21083.2(g)), the Qualified Archaeologist shall develop an appropriate treatment plan for the resource in accordance with the CRMP. When assessing significance and developing treatment for resources that are Native American in origin, the Qualified Archaeologist and the City shall consult with the appropriate Native American representatives. The Qualified Archaeologist shall also determine if work may proceed in other parts of the Project Site while treatment for cultural resources is being carried out. • MM TCR-2 – Native American Monitoring. In the event the Qualified Archaeologist determines that an archaeological discovery is Native American in origin, the Applicant or their designee shall retain a qualified Native American monitor to provide monitoring during testing and data recovery efforts of the discovered resource in accordance with CRMP protocols and procedures (see MM CR-8). The Native American monitor shall be selected from a Tribe that is culturally and geographically affiliated with the Specific Plan area (according to this Project’s NAHC contact list). In the event of a discovery, the City shall also determine if Native American monitoring of any future ground-disturbing activities is warranted. Significant and Unavoidable Impacts Most of the potentially significant impacts resulting from the project may be reduced to a level considered Less than Significant with the implementation of the mitigation measures listed for each of the topics above; however, implementation of the proposed Specific Plan may still result in potentially significant impacts to Air Quality, Cultural Resources, and Greenhouse Gas Emissions, even after mitigation. To approve a project with unavoidable significant impacts, the City of Downey must adopt a Statement of Overriding Considerations. The City is currently considering this option, which CEQA allows when a project has the potential for impacts that are significant and unavoidable. In adopting such a statement, the lead agency is required to balance the benefits of a project against its unavoidable environmental impacts in determining whether to approve the project. If a project’s benefits are found to outweigh the unavoidable adverse environmental effects, the adverse effects may be considered “acceptable” (State CEQA Guidelines §15093(a)). Air Quality The proposed Specific Plan has the potential to result in a cumulative considerable net increase of pollutants. However, implementation of mitigation measures would ensure that future development projects have feasible mitigation measures incorporated as necessary to reduce potential impacts. The Project would not result in a cumulatively considerable net increase of pollutants for the region. The region itself is considered non-attainment under applicable federal or state ambient air quality standard. The South Coast Air Quality Management District (SCAQMD) has developed strategies to reduce criteria pollutant emissions outlined in the Air Quality Management Plan (AQMP) pursuant to the federal Clean Air Act mandates. Therefore, individual projects will include fugitive dust controls during construction, including frequent water applications and comply with SCAQMD rules and regulations. Potential construction within the Specific Plan area will not cause non-attainment in the region but will be a potential contributor despite adhering to SCAQMD rules and regulations. Cultural Resources While the Project involves adoption of a land use plan and does not propose any development, future development could potentially result in direct impacts through the physical demolition, PC Agenda Page 20 Rancho Los Amigos South Campus Specific Plan - PLN-21-00063 July 7, 2021 - Page 21 destruction, or alteration of potential historical resources within the Focus Area. Future development within the Focus Area assumes the demolition of contributor and non-contributor buildings and would remove remaining features of the Historic District’s original 1888 Site Plan. A contributor building is a structure that contributes to the significance of a historic district. Several mitigation measures are proposed, however, the impacts to the Historic District would remain significant and unavoidable since the Historic District would no longer be eligible for National Register of Historic Places and may be delisted from the California Register of Historical Resources. There are five individually eligible buildings and structures in the Specific Plan area, and four with the Focus Area. All five of the structures will be retained. However, the PEIR includes a number of mitigation measures that would reduce the impacts on these individual structures. Greenhouse Gas Emissions The PEIR clarified that future development in the Focus Area would need to be analyzed on a project-by-project basis to determine the extent of each project’s potential contribution to global climate change and appropriate mitigation measures specific to each project. Due to the uncertainty of timing of future development, and project-specific details, future development has the potential to exceed SCAQMD recommended threshold of 3,000 MT CO2e per year. Therefore, impacts are considered significant and unavoidable in the PEIR. These three issues could not be reduced (mitigated) to a less than significant level through the adoption of mitigation measures or project alternatives. Therefore, should the City choose to approve the project, the City will need to identify project benefits that outweigh the identified significant environmental impacts. Should the Planning Commission choose to recommend project approval to the City Council, a statement of overriding considerations will be required. CORRESPONDENCE As of the date that this report was printed, staff has not received any correspondence regarding this application. CONCLUSION This presentation is intended to provide the Planning Commission and public an opportunity to review and discuss the proposed project, including the draft PEIR. The presentation is for discussion purposes only, and the Planning Commission is asked to consider and take public comment on the Specific Plan and Environmental Impact Report, the Planning Commission will not take any additional action at this meeting. It is recommended that the Planning Commission receive and file this report. LINKS A. Rancho Los Amigos South Campus Specific Plan and Program Environmental Impact Report – https://www.downeyca.org/our-city/departments/community- development/planning/rancho-south-campus PC Agenda Page 21