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HomeMy WebLinkAbout2011-09-28 e-packet A GENDA CITY COUNCIL CITY OF SOUTH SAN FRANCISCO REGULAR MEETING MUNICIPAL SERVICES BUILDING COMMUNITY ROOM WEDNESDAY, SEPTEMBER 28, 2011 7:00 P.M. PEOPLE OF SOUTH SAN FRANCISCO You are invited to offer your suggestions. In order that you may know our method of conducting Council business, we proceed as follows: The regular meetings of the City Council are held on the second and fourth Wednesday of each month at 7:00 p.m. in the Municipal Services Building, Community Room, 33 Arroyo Drive, South San Francisco, California. Public Comment: For those wishing to address the City Council on any Agenda or non-Agendized item, please complete a Speaker Card located at the entrance to the Council Chamber’s and submit it to the City Clerk. Please be sure to indicate the Agenda Item # you wish to address or the topic of your public comment. California law prevents the City Council from taking action on any item not on the Agenda (except in emergency circumstances). Your question or problem may be referred to staff for investigation and/or action where appropriate or the matter may be placed on a future Agenda for more comprehensive action or a report. When your name is called, please come to the podium, state your name and address (optional) for the Minutes. COMMENTS ARE LIMITED TO THREE (3) MINUTES PER SPEAKER. Thank you for your cooperation. The City Clerk will read successively the items of business appearing on the Agenda. As she completes reading an item, it will be ready for Council action. KEVIN MULLIN Mayor RICHARD A. GARBARINO MARK N. ADDIEGO Vice Mayor Councilman PEDRO GONZALEZ KARYL MATSUMOTO Councilman Councilwoman RICHARD BATTAGLIA KRISTA MARTINELLI City Treasurer City Clerk BARRY M. NAGEL STEVEN T. MATTAS City Manager City Attorney PLEASE SILENCE CELL PHONES AND PAGERS HEARING ASSISTANCE EQUIPMENT AVAILABLE FOR USE BY THE HEARING IMPAIRED AT CITY COUNCIL MEETINGS In accordance with California Government Code Section 54957.5, any writing or document that is a public record, relates to an open session agenda item, and is distributed less than 72 hours prior to a regular meeting will be made available for public inspection in the City Clerk’s Office located at City Hall. If, however, the document or writing is not distributed until the regular meeting to which it relates, then the document or writing will be made available to the public at the location of the meeting, as listed on this agenda. The address of City Hall is 400 Grand Avenue, South San Francisco, California 94080. CALL TO ORDER ROLL CALL PLEDGE OF ALLEGIANCE PRESENTATIONS Proclamation establishing October as Fire Prevention Month in the City of South San Francisco. AGENDA REVIEW PUBLIC COMMENTS ITEMS FROM COUNCIL Announcements. Committee Reports. CONSENT CALENDAR 1.Motion to approve the minutes of September 14, 2011. 2.Motion to approve expense claims of September 28, 2011. 3.Motion approving response to Grand Jury regarding Aircraft Noise Report. 4.Resolution approving an agreement with Miracle Playsystems, Inc. for the purchase and installation of Playground Equipment at Orange Memorial Park in an amount not to exceed $307,743. 5.Resolution awarding a construction contract to Bayview Painting and Construction of Burlingame, California, for the City Hall exterior lead based paint stabilization (Abatement), and City Hall, Tower, and City Hall Annex painting project in an amount not to exceed $120,000. LEGISLATIVE BUSINESS 6.Waive reading and introduce an ordinance relating to Franchise Towing Agreement and Resolution approving Franchise Towing Agreement REGULAR CITY COUNCIL MEETING SEPTEMBER 28, 2011 AGENDA PAGE 2 PUBLIC HEARING 7.Project #: P10-0031 – GPA10-0002, UP10-0031, DR10-0015 & ND10-0003 GIMBAL’S FINE CANDIES John M. Ward – Applicant Gimbal, Lance North & P L TR – Owner 250 HILLSIDE BLVD. APN - 012070360 General Plan Amendment, Use Permit, Design Review and Negative Declaration to construct an 8,810 sf addition to an existing 28,902 sf food preparation use and to allow a 6 space parking reduction at 250 Hillside Blvd in the Community Commercial (CC) Zoning District in accordance with SSFMC Chapters 20.090, 20.330, 20.460, 20.480, 20.490 & 20.540. 8.Resolution authorizing submittal of 2010-2011 Consolidated Annual Performance and Evaluation Report (CAPER) to the Department of Housing and Urban Development (HUD); and CDBG-R Budget ADMINISTRATIVE BUSINESS 9.Motion to approve transmittal of Annual Financial and Audit Reports for Fiscal Year 2009-2010. 10.Resolution approving the Conference Center FY 2011-12 Operating/Capital Budget. 11.Resolution authorizing Shelter Network to submit a grant application to the County of San Mateo Continuum of Care (COC) for the Permanent Supportive Housing Bonus of $215,065 in order to implement a Permanent Urban Supportive Housing Program and a Homeless Outreach Team in South San Francisco; including a letter of support from the City of South San Francisco committing to the provision of housing, consisting of 18 bedroom, for program participants. 12.Resolution amending the 2011-2012 fiscal year budget table of organization for the Public Works Department adding the position of Assistant Public Works Director/City Engineer and deleting the position of City Engineer and revising the salary schedule for the Mid-Management Unit COMMUNITY FORUM ADJOURNMENT REGULAR CITY COUNCIL MEETING SEPTEMBER 28, 2011 AGENDA PAGE 3 DRAFT INITIAL STUDY NEGATIVE DECLARATION GIMBAL’S FINE CANDY 250 HILLSIDE BOULEVARD SOUTH SAN FRANCISCO, CALIFORNIA LEAD AGENCY: CITY OF SOUTH SAN FRANCISCO DEPARTMENT OF ECONOMIC AND COMMUNITY DEVELOPMENT PLANNING DIVISION 315 MAPLE AVENUE SOUTH SAN FRANCISCO, CA 94080 (650) 877-8535 JUNE 3, 2011 Prepared by: ALLISON KNAPP WOLLAM CONSULTING www.AllisonKnappConsulting.com TABLEOFCONTENTS CHAPTERPAGE CHAPTER 1: INTRODUCTION 1.1Initial Study and Legislative Framework 1-1 1.2City of South San Francisco Project Review Process and 1-4 Mitigation Measures Required by Law 1.3Lead Agency Determination 1-12 CHAPTER 2: PROJECT DESCRIPTION 2.1Project Location and Setting 2-1 2.2Project Description 2-3 2.3Required Entitlements 2-7 2.4General Plan and Zoning 2-8 CHAPER 3: ENVIRONMENTAL CHECKLIST 3.1Aesthetics3-2 3.2Agricultural Resources 3-7 3.3Air Quality 3-8 3.4Biological Resources 3-33 3.5Cultural Resources 3-35 3.6Geology and Soils 3-38 3.7Hazards and Hazardous Materials 3-45 3.8Hydrology and Water Quality 3-51 3.9Land Use and Planning 3-56 3.10Mineral Resources 3-59 3.11Noise3-61 3.12Population and Housing 3-69 3.13Public Services 3-71 3.14Recreation3-72 3.15Transportation and Traffic 3-74 3.16Utilities and Service Systems 3-78 3.17Mandatory Findings of Significance 3-82 3.17.ASummary of Findings 3-83 APPENDIX A 4-1 i 1 I NTRODUCTION IS/LF 1.1 NITIAL TUDYEGISLATIVERAMEWORK This Initial Study has been prepared in accordance with the California Environmental Quality Act (CEQA), which can be found in the California Public Resources Code (PRC) Section 21000 et seq., and the CEQA Guidelines found in California Code of Regulations Title 14, Chapter 3, (CCR) Section 15000 et seq., as amended. This Initial Study identifies the potential environmental impacts associated with grading, construction and future occupancy of the Project which includes any reasonably foreseeable impacts associated with the Project in its entirety. CEQA (PRC Section 21065) defines a Project as: An activity which may cause either a direct physical change in the environment, or a reasonably foreseeable indirect physical change in the environment, and which is any of the following: a)An activity directly undertaken by a public agency. b)An activity undertaken by a person which is supported, in whole or in part, through contracts, grants, subsidies, loans, or other forms of assistance from one or more public agencies. c)An activity that involves the issuance to a person of a lease, permit, license, certificate, or other entitlement for use by one or more agencies. The Applicant is seeking entitlements to expand their existing candy manufacturing facility at 250 Hillside Boulevard in South San Francisco, California. An 8,800 square foot addition to an existing 28,900 square foot building on a 75,433 square foot site is being requested. The request triggers legislative, adjudicative, and ministerial actions. Legislative actions include a proposed Amendment to the City’s General Plan to address the expansion of a legal nonconforming use (Section 3.8, Land Use); adjudicative actions include a conditional use permit and design review; and the ministerial action includes a grading permit. The proposed project (Project) meets criteria “c”, identified above, and therefore requires environmental review. Preparation of an environmental analysis and subsequent environmental determination is required prior to or simultaneously with entitlement review. Environmental review does not constitute Project approval, but is an independent analysis of potential Project impacts and mitigation measures. The Lead Agency may after review of the 250--ISP1-1 HILLSIDE BOULEVARDGIMBAL CANDYNITIALTUDYAGE C1:I HAPTER NTRODUCTION entirety of the record, find that the environmental analysis is adequate and approve, disapprove or conditionally approve the Project based upon environmental and merits review. The Lead Agency for this document is the City of South San Francisco. The Planning Commission will make a recommendation on this document and the requested Project entitlements. The recommendation will be forwarded to the City Council for final action. These actions will take place in legally-noticed public hearings. This Initial Study, City Project Number: P10-0031, UP10-0004, GPA10-0002 and DR10- 0015 is for the Project identified as 250 Hillside Boulevard in South San Francisco, California (APN: 012-070-360). The 75,433 square foot (1.73 acre) lot is developed with 28,902 square foot candy manufacturing facility. Project Applicant/Team/Contact The property owner and applicant is Gimbal Lance North & PL TR represented by Estle Kominowski. The applicant has assembled a Project team consisting of Jerry Winges of Winges Architects, Inc., as the architect, Roland Haga of BKF Engineers as the civil engineer, Matt Gruber of Callandar Associates as the landscape architect, and John Ward of John M. Ward and Associates as the Project manager. The contact for the Project is: John Ward 792 Willborough Place Burlingame, CA 94010 (650) 342-0683 Lead Agency/Contact The Lead Agency for this Initial Study is the City of South San Francisco. The administrative record for the Project is on file at the City’s Planning Division. The following person has been assigned as the custodian and Case Planner/Project Manager for the Lead Agency: Billy Gross, Associate Planner Department of Economic and Community Development-Planning Division 315 Maple Avenue South San Francisco, CA 94080 (650) 877-8535 Main Contact : Questions on this document should be directed to: Allison Knapp Wollam, Environmental Consultant Knapp Planning and Environmental Consulting 511 Linden Street, Suite B San Francisco, CA 94102 (415) 902-3238 P1-2250--IS AGE HILLSIDE BOULEVARDGIMBAL CANDYNITIAL TUDY C1:I HAPTER NTRODUCTION The environmental consulting team consists of Allison Knapp Wollam Consulting, KB Environmental Engineering for the hazard risk assessments and Miller Consulting for the air quality analysis. Documents Incorporated Herein By Reference GEOLOGY Geotechnical Investigation Gimbal’s Building Expansion, 250 Hillside Boulevard, South San Francisco, CA, Cornerstone Earth Group, May 28, 2010. Geotechnical Peer Review, Geotechnical Investigation Gimbal’s Building Expansion, 250 Hillside Boulevard, South San Francisco, CA , Cotton, Shires & Associates, Inc., March 14, 2011. Geotechnical Investigation Gimbal’s Building Expansion Responses, 250 Hillside Boulevard, South San Francisco, CA, Cornerstone Earth Group, April 9, 2011. Geotechnical Peer Review, Geotechnical Investigation Gimbal’s Building Expansion, 250 Hillside Boulevard, South San Francisco, CA , Cotton, Shires & Associates, Inc., March 14, 2011. Geotechnical Peer Review, Geotechnical Investigation Gimbal’s Building Expansion, 250 Hillside Boulevard, South San Francisco, CA , Cotton, Shires & Associates, Inc., April 22, 2011. 250-–IS P1-3 HILLSIDE BOULEVARDGIMBAL CANDYNITIALTUDYAGE C1:I HAPTER NTRODUCTION 1.2CSSFPR ITY OF OUTH ANRANCISCOROJECT EVIEW PM ROCESS AND ITIGATION MEASURES REQUIRED BY LAW As a matter of law, the Project is required to comply with federal, state and local laws and regulations. These regulations are verified as satisfied and incorporated into the Project as a matter of building permit issuance or a building or grading permit will not be issued by the City of South San Francisco. As such, these requirements are considered a part of the Project, not a separate and distinct requirement. City of South San Francisco project processing requires that applications for projects are first reviewed by the City’s Technical Advisory Group (TAG). TAG is comprised of representatives from Planning, Building, Police, Fire, Engineering, Parks and Recreation, and Water Quality Control. TAG review identifies changes and additions that are required in a project to comply with local, state and federal laws that are implemented through the City’s Municipal Code. The Planning Division, subsequent to TAG review, issues a letter to the applicant identifying the changes required in Project plans and supporting materials necessary to comply with prevailing laws pursuant to site development, construction and land use. The applicant is required to revise the plans and supporting documentation or the application is not certified as complete and not processed. Revised plans and documentation are submitted to the Planning Division to be routed again to all affected City departments and divisions; again to evaluate the application in light of their earlier comments and requirements. The process results in an application that can be certified ‘complete’ as well as identifying the Conditions of Approval (COA’s) that are required should the Project be approved. Many of these COA’s implement environmental mitigations that were historically identified through the environmental review process (California Environmental Quality Act, or CEQA) and now have become a part of the City’s legislative requirements, through its general plan, special, area, or redevelopment plans, municipal code, special districts, or memoranda of understanding (i.e., its police power). After a project application is complete it is subject to environmental, public and discretionary review through and by the Planning Commission, Redevelopment Agency and/or City Council, depending upon the type of project, as defined by the Municipal Code of South San Francisco and state law. The COA’s identified through staff review of the project, and any additional ones identified through the public review process become required of the project as a matter of law. Prior to the City issuing a building, grading and/or demolition permit all City departments and divisions (identified above) review the project plans for compliance with their identified COA’s and any ones added through the public review process. Permits are not issued by the Building Division in absence of authorization from City staff or in absence of the requirements being incorporated into the Project plans. P1-4250--IS AGE HILLSIDE BOULEVARDGIMBAL CANDYNITIAL TUDY C1:I HAPTER NTRODUCTION 1. Aesthetics Aesthetics Light and Glare: Signage is required to be reviewed by staff, and in some instances the Design Review Board and the Planning Commission. Lighting, size, color, placement, design and compatibility with surrounding land uses is addressed and assured through this process. Potential environmental impacts and the need or lack thereof for environmental clearance is also addressed and undertaken as a part of the Sign Permit procedure (Chapter 20.360 South San Francisco Municipal Code-Zoning). The Planning Division implements and monitors this requirement. Projects are reviewed by the City’s Design Review Board consisting of professional architects and landscape architects. The Planning Commission and in some cases the City Council adds design elements to projects. Projects that are within a state or local scenic corridor are further addressed through the CEQA process. 2. Air Quality Air Quality Dust Control: All construction projects are required to comply with the Bay Area Air Quality Management District’s (BAAQMD) dust control measures. These measures are levied by the Engineering Division as a condition of building permit issuance and are monitored for compliance by staff and/or special City Engineering and/or Planning inspectors. The measures include: a)Water all active construction sites at least twice daily. b)Cover all trucks hauling soil, sand, and other loose materials or require all trucks to maintain at least two feet of freeboard. c)Pave, apply water three times daily, or apply (non-toxic) soil stabilizers on all unpaved access roads, parking areas, and staging areas at construction sites. d)Sweep daily (with water sweepers) all paved access roads, parking areas and staging areas at construction sites. e)Sweep streets daily (with water sweepers) if visible soil material is carried onto adjacent public streets. f)Hydroseed or apply (non-toxic) soil stabilizers to inactive construction areas (previously graded areas inactive for ten days or more). g)Enclose, cover, water twice daily, or apply non-toxic soil binders to exposed stockpiled materials. h)Install sandbags or other erosion-control measures to prevent silt runoff to public roadways. 250-–IS P1-5 HILLSIDE BOULEVARDGIMBAL CANDYNITIALTUDYAGE C1:I HAPTER NTRODUCTION i)Replant vegetation in disturbed areas as quickly as possible. j)Watering should be used to control dust generation during the break-up of pavement. k)Cover all trucks hauling demolition debris from the site. l)Use dust-proof chutes to load debris into trucks whenever feasible. m)Water or cover stockpiles of debris, soil, sand or other materials that can be blown by the wind. n)All construction equipment shall be maintained and properly tuned in accordance with manufacturer’s specifications. All equipment shall be checked by a certified mechanic and determined to be in proper running order prior to operation. o)Diesel powered equipment shall not be left inactive and idling for more than five minutes, and shall comply with applicable BAAQMD rules. p)Use alternative fueled construction equipment, if possible. q)All vehicle speeds on unpaved roads shall be limited to 15 mph. r)Post a visible sign with the telephone number and person to contact at the Lead Agency regarding dust complaints. This person shall respond and take corrective action within 24 hours. The Air District phone number shall also be visible to ensure compliance with applicable regulations. Air Quality Toxic Air Contaminants: The potential for toxic air contaminants (asbestos and lead based paint) to be released into the environment is regulated and monitored through the Building Division. Any applicant requesting a building or demolition permit involving a structure suspected of containing asbestos (defined as a building constructed prior to 1978) and/or lead based paint (defined as a building constructed prior to 1960) is required to obtain a J-Permit from the BAAQMD. The J Permit is required to be posted on the job site and if it is not there the job will be fined by the BAAQMD and may be shut down by the City’s Building Division. Through this process, the BAAQMD and the City Building Division ensure that asbestos and lead based paints are handled, removed, encapsulated and disposed of in accordance with prevailing law requisite to protect the environment, the people conducting the work and nearby sensitive receptors. The process typically requires surveys and removal of lead based paints and asbestos by licensed contractors certified in the handling methods requisite to protect the environment and public health and safety. The process also provides for BAAQMD and City supervision to insure compliance. Air Quality Vehicle Emissions: The potential for air quality degradation from vehicle emissions is regulated to some extent by Section 20.400.003 of the South San Francisco Code. Table 20.400.003 in the Zoning Ordinance establishes specific program requirements for a project generating one hundred or more vehicle trips per day or a project seeking a floor P1-6250--IS AGE HILLSIDE BOULEVARDGIMBAL CANDYNITIAL TUDY C1:I HAPTER NTRODUCTION area ratio (FAR) bonus. The required alternative mode use for all projects is twenty-eight percent and applicants who propose projects with increased FAR are required to increase their alternative mode use accordingly. The Planning Division implements and monitors this requirement. 3. Geology and Soils Geology and Soils Table 18-1-B Uniform Building Code: All construction projects are required to comply with the Uniform Building Code. Projects located on soils identified in Volume 2 Table 18-1-B of the Uniform Building Code are required to comply with the construction specifications to mitigate potential impacts due to liquefaction. This requirement is enforced and monitored by the Engineering Division. Compliance with the Uniform Building Code is also implemented and monitored by the Building Division. Geology and Soils Geotechnical Reports: The City Engineering Division also requires geotechnical reports as a part of the permit package for projects to be constructed on vacant land, demolition and rebuilding and additions to buildings that require grading and additional loading. The geotechnical reports are required to be prepared by a licensed geologist, geotechnical engineer or engineering geologist. The reports address design and construction specifications for the Project including grading, site drainage, utility and infrastructure design specifications and placement and building design. The reports are peer reviewed by the City’s geotechnical consultant and are modified as recommended by the City’s consultant. Geotechnical approval is required prior to issuance of a building permit. The geotechnical professional of record is required to sign all project drawings and the City’s geotechnical consultant provides construction inspections, oversight and monitoring for the City. The Engineering Division implements and monitors this requirement. 4. Hydrology and Water Quality Hydrology and Water Quality: South San Francisco updated their development review procedure January, 2010 to implement the new, regional requirements mandated by the Regional Water Quality Control Board that will affect private development projects beginning December 1, 2011. The following is a summary of applicable new requirements in Provisions C.3.b.ii and C.3.c.i.2 of the San Francisco Bay Region Municipal Regional Stormwater National Pollutant Discharge Elimination System Permit (“Municipal Regional Permit” or “MRP”). The full text may be downloaded at www.flowstobay.org/ms_municipalities.php. New restrictions on methods of stormwater treatment require that beginning December 1, 2011, all projects that are required to treat stormwater will need to treat the permit-specified amount of stormwater runoff with low impact development methods. These methods include rainwater harvesting and reuse, infiltration, evapotranspiration, or biotreatment. However, biotreatment (filtering stormwater through vegetation and soils before discharging to the storm drain system) will be allowed only where harvesting and reuse, infiltration and evapotranspiration are infeasible at the Project site. Vault-based treatment will not be allowed as a stand-alone treatment measure. Where stormwater harvesting and reuse, 250-–IS P1-7 HILLSIDE BOULEVARDGIMBAL CANDYNITIALTUDYAGE C1:I HAPTER NTRODUCTION infiltration, or evapotranspiration are infeasible, vault-based treatment measures may be used in series with biotreatment, for example, to remove trash or other large solids. (see Provision C.3.c.i.2 of the MRP.) New rules for auto service facilities, retail gasoline outlets, restaurants, and uncovered parking begin on December 1, 2011. At that time, projects that create and/or replace 5,000 square feet or more of impervious surface related to auto service facilities retail gasoline outlets, restaurants, and/or surface parking will be required to provide low impact development treatment of stormwater runoff. This requirement will apply to uncovered parking that is stand-alone, or included as part of any other development project, and it applies to the top uncovered portion of a parking structure, unless drainage from the uncovered portion is connected to the sanitary sewer (see Provision C.3.b.ii.1 of the MRP). For all other land use categories, 10,000 square feet will remain the regional threshold for requiring low impact development, source control, site design, and stormwater treatment, although municipalities may have the authority to require treatment to the maximum extent practicable for smaller projects. The new requirements are built into the following standard requirements. Hydrology and Water Quality Stormwater Runoff Prevention (Operational): All Projects are required to comply with the San Mateo Countywide Storm Water Pollution Prevention Program (STOPPP), an organization of the City/County Association of Governments (C/CAG) of San Mateo County holding a National Pollutant Discharge Elimination System (NPDES) Storm Water Discharge permit. The City requires the implementation of Best Management Practices (BMP’s) for new development and construction as part of its storm water management program, as levied through standard City COA’s. The requirements are implemented and monitored by the Engineering and Water Quality Control Divisions. The measures address pollution control and management mechanisms for contractor activities, e.g. structure construction, material delivery and storage, solid waste management, employee and subcontractor training. Stormwater pollution prevention measures also affect site development and operations in order to prevent pollution due to Project occupancy. Typical storm water quality protection measures include: a)Walking and light traffic areas shall use permeable pavements where feasible. Typical pervious pavements include pervious concrete, porous asphalt, turf block, brick pavers, natural stone pavers, concrete unit pavers, crushed aggregate (gravel), cobbles and wood mulch. b)Parking lots shall include hybrid surfaces (pervious material for stalls only), concave medians with biofilters (grassy swales), and landscaped infiltration/detention basins as feasible. c)Landscape design shall incorporate biofilters, infiltration and retention/detention basins into the site plan as feasible. P1-8250--IS AGE HILLSIDE BOULEVARDGIMBAL CANDYNITIAL TUDY C1:I HAPTER NTRODUCTION d)Outdoor work areas including garbage, recycling, maintenance, storage, and loading, applicable storm water controls include siting or set back from drainage paths and water ways, provision of roofing and curbs or berms to prevent run on and run off. If the area has the potential to generate contaminated run off, structural treatment controls for contaminant removal (such as debris screens or filters) shall be incorporated into the design. e)Roof leaders and site drainage shall be filtered and directed to the City storm drain system. f)Drainage from paved surfaces shall be filtered through vegetated swales, buffer or sand strips before discharge to the City’s storm drain system. Hydrology and Water Quality Stormwater Runoff Prevention (Construction): The City of South San Francisco requires through COA’s, Project compliance with the State Water Quality Control Board’s general permitting requirements which requires the applicant to secure a Construction Activities Storm Water General Permit, complete a Notice of Intent (NOI) and prepare and obtain approval of a Storm Water Pollution Prevention Plan (SWPPP). The state issues a Waste Discharge Identification number within 10 days of receipt of a complete NOI and SWPPP. The applicant is then required to submit copies of the NOI and SWPPP to the City of South San Francisco’s Technical Services Supervisor within the Water Quality Control Plant of the Public Works Department prior to issuance of building and/or grading permits. The requirements are implemented and monitored by Water Quality Control personnel. Typical construction stormwater protection measures include: a)Identify all storm drains, drainage swales and creeks located near construction sites and prevent pollutants from entering them by the use of filter fabric cloth, rock bags, straw wattles, slope hydroseeding, cleaning up leaks, drips or spills immediately, use dry cleanup methods to clean up spills, use of berms, temporary ditches and check dams to reduce the velocity of surface flow. b)Place rock bags at all drain inlets to filter silt and along curb and gutter to filter water before the drain inlets. c)Place straw wattles and hydroseed the sloped areas. d)Place straw matting at the temporary sloped areas for erosion control. e)Place drain systems to filter and then drain into drain inlets. f)Use silt fencing with straw mats and hand broadcast seed for erosion control. g)Construct temporary drainage systems to filter and divert water accordingly. h)Construct temporary rock and asphalt driveways and wheel washers to buffer public streets from dirt and mud. 250-–IS P1-9 HILLSIDE BOULEVARDGIMBAL CANDYNITIALTUDYAGE C1:I HAPTER NTRODUCTION i)Use part and full time street sweepers that operate along public streets and roads. j)Cover all stockpiled soils to protect from erosion. Use berms around stockpiled soils. k)Cover and protect from erosion plaster, concrete and other powders which create large amounts of suspended solids. l)Store all hazardous materials (paints, solvents, chemicals) in accordance with secondary containment regulations and cover during wet weather. m)Use terracing to prevent erosion. n)Through grading plan review and approval, phase grading operations to reduce disturbed areas during wet weather, limit vegetation removal, delineate clearing limits, setbacks, easements, sensitive or critical areas, trees, drainage courses and buffer zones to prevent unnecessary disturbance and exposure. Limit or prohibit th grading during the wet weather season, October 15 to April 15. o)Prevent spills and leaks by maintaining equipment, designating specific areas of a site for such activities that are controlled and away from water courses and perform major maintenance off-site or in designated areas only. p)Cover and maintain all dumpsters, collect and properly dispose of all paint removal wastes, clean up paints, solvents, adhesives and all cleaning solvents properly. Recycle and salvage appropriate wastes and maintain an adequate debris disposal schedule. q)Avoid roadwork and pavement stormwater pollution by following manufacturers’ instructions. 5. Noise Noise Interior Ambient Noise: The City of South San Francisco regulates noise exposure through state law and their General Plan and East of 101 Area Plan. The California Building Code (CBC) Title 24, Part 2, Chapter 2.35 of the California Code of Regulation, collectively known as Title 24, contains acoustical requirements for interior sound levels in habitable rooms for multi-family residential land uses. Title 24 contains requirements for construction of new hotels, motels, apartment houses, and dwellings other than detached single-family dwellings intended to limit the extent of noise transmitted into habitable spaces. The standard specifies the extent to which walls, doors, and floor-ceiling assemblies must block or absorb sound in between units and the amount of attenuation needed to limit noise from exterior sources. The standard sets forth an interior noise level of 45 dBA (CNEL or L) in dn any habitable room with all doors and windows closed and requires an acoustical analysis demonstrating how dwelling units have been designed to meet this interior standard where such units are proposed in areas subject to noise levels greater than 60 dBA (CNEL or L). dn P1-10250--IS AGE HILLSIDE BOULEVARDGIMBAL CANDYNITIAL TUDY C1:I HAPTER NTRODUCTION Title 24 requirements are enforced as a condition of building permit issuance by the Building Division. The City, through its General Plan, adopted the Noise Guidelines of the State Department of Health Services in their Noise Element (1999). Table 9.2-1, Land Use Criteria for Noise Impacted Areas, contained in the Noise Element of the General Plan (page 280) guides land use decisions based upon noise thresholds and acoustical analysis and mitigation. Additionally, the General Plan (page 279) also guides and mitigates development in light of aircraft noise. The City implements the Federal Aviation Administration adopted noise contours and participates in an aircraft noise insulation program. Figure 9-1 of the General PlanAircraft Noise and Noise Insulation Program (page 279) identifies the noise contours and program area. The East of 101 Area Plan requirement for interior ambient noise for commercial, office and retail is 45 dBA, L, echoing state law. Residential land uses are eq prohibited. The Noise Guidelines are implemented by the Planning Division through new project review. Noise Exterior Ambient Noise: The City of South San Francisco regulates exterior noise through the South San Francisco Municipal Code (Section 8.32.030). The Municipal Code regulates noise pursuant to land use and time of day. Lower density residential maximum noise exposure (excluding vehicle horns and emergency vehicles) is restricted to 50 dB 10 P.M. to 7 A.M. and 60 db from 7 A.M. and 10 P.M. Higher density residential and commercial is restricted to 55 dB from 10 P.M. to 7 A.M. and 65 db from 7 A.M. and 10 P.M. Industrial land uses are restricted to 70 dB anytime of the day. These noise standards are implemented largely through enforcement actions (i.e., citizen complaint and governmental response). The Fire Department through its Code Enforcement Officer implements these regulations. Construction noise is also regulated through the Municipal Code (8.32.050(d)). Hours of construction are exempt from the standards identified in the preceding paragraph and are limited to 8 A.M. to 8 P.M. Monday through Friday, 9 A.M. to 8 P.M. on Saturdays and 10 A.M. to 6 P.M. on Sundays and holidays. The Building Division enforces and monitors these regulations. Exceptions to the hours of construction may be granted by the Chief Building Official. 250-–IS P1-11 HILLSIDE BOULEVARDGIMBAL CANDYNITIALTUDYAGE 2 PD ROJECTESCRIPTION PLS 2.1 ROJECTOCATION AND ETTING Project Location The Project is at 250 Hillside Boulevard in South San Francisco, California. The Project site is located in the northern portion of the City. The site can be accessed via Airport Boulevard to South Linden Avenue then to Hillside Boulevard or from Sister Cities Boulevard to Hillside See Figure 2.1 Project Location Boulevard.. FIGURE 2.1 PROJECT LOCATION 250--ISP2-1 HILLSIDE BOULEVARDGIMBAL CANDYNITIAL TUDY AGE C2:PD HAPTER ROJECT ESCRIPTION FIGURE 2.2 SITE CHARACTERISTICS Site Characteristics See Figure 2.2, Site The 75,433 square foot Project site is predominately rectilinear in shape. Characteristics . The majority of the site is less than a 10% slope, 58 feet in elevation, with some steep rises along the undeveloped northern and eastern edges.The site rises approximately 30 feet in elevation within 40 feet of North Spruce Avenue, for a 75% slope in this area. The eastern portion the site rises 40 feet within 65 feet (62% slope). The addition is proposed in the southeast portion of the site and would cut into the hillside at approximately the 65 foot elevation, leaving the majority of the hillside untouched. The area where the addition is proposed is predominately asphalt cluttered with unenclosed storage and haphazardly parked vehicles. No landscaping would be removed to construct the addition, according to the Project drawings. The Project site is accessed by Hillside Boulevard, classified as ‘other streets” in the General Plan (Figure 4-1, Street Classifications) from Sister Cities Boulevard (a major arterial) to the north. Both Linden and Spruce Avenues (minor arterials) provide access to Hillside Boulevard from the south. Spruce Avenue originates south of the Project site from El Camino Real and at Grand Avenue is called School Street (identified as a collector street) then north of Hillside Boulevard converts back to North Spruce Avenue. North Spruce Avenue(classified as other streets) ends above the Project site just below Sister Cities Boulevard. P2-2250--IS AGE HILLSIDE BOULEVARDGIMBAL CANDYNITIAL TUDY C2:PD HAPTER ROJECT ESCRIPTION Project Setting Surrounding Land Uses and Development in the Project Area The Project site is located in the northern area of the City of South San Francisco within the Paradise Valley Neighborhood.The Paradise Valley Neighborhood is one of 12 neighborhoods, or planning areas within the City of South San Francisco. The Project site is adjacent to single family residential development to the north and west. Heavy commercial and or light industrial land uses flank the Project’s eastern property line. The commercial uses include a linen supply, storage, newspaper publishing and bus repair. The Martin School, the Girls and Boys Club and residential land uses are located west and southwest of the site across Hillside Boulevard and North Spruce Avenue. Two small-service grocery stores are located in the Project vicinity; one across Hillside Boulevard and one at the corner of Hillside Boulevard and Linden Avenue. Residential land uses are located behind the commercial uses fronting Hillside Boulevard, to the south, southwest and west. Existing Use of the Project Site The site is developed with a single story 28,900 square foot building that supports the manufacturing of Gimbal’s Fine Candy and infrastructure supporting the use. Review of aerial photographs indicate that the building was built in the early- to mid-1950’s. The parking area appears to have been constructed in the mid- to late-1960’s. The parking area is uneven and in poor condition suggesting that it has reached its design life (Geotechnical Investigation Gimbal’s Building Expansion, 250 Hillside Boulevard, South San Francisco, CA, Cornerstone Earth Group, May 28, 2010). 2.2 Project Description Construction The Project would add approximately 8,800 square feet of floor area to an existing 28,900 square foot building. The applicant, Gimbal’s Fine Candy manufactures candy from this location at 250 Hillside Boulevard. The requested addition would provide additional staging areas for the finished product prior to packaging as well as some expansion of the existing shop area. The addition would be one story similar to the existing one story concrete building. The height would be 30 feet including the six foot parapet that would screen the rooftop mechanical equipment. The addition would be three to seven feet taller than the existing building. The parapet of the existing building is 20 feet tall, while the pitched roof extends up to about 27 feet. The addition would be on the southeastern portion of the lot and would be built at the southern property line. The addition would be constructed to the toe of the slope in the eastern area of the site and approximately 55 feet from the northern property line. The grading plans show that 940 cubic yards of cut and 15 cubic yards of fill would be required Figure 2.3 to construct the Project. The proposed site plan is shown in . 250--ISP2-3 HILLSIDE BOULEVARDGIMBAL CANDYNITIALTUDY AGE C2:PD HAPTER ROJECT ESCRIPTION FIGURE 2.3 PROPOSED SITE PLAN P2-4250--IS AGE HILLSIDE BOULEVARDGIMBAL CANDYNITIAL TUDY C2:PD HAPTER ROJECT ESCRIPTION Operation Gimbal’s’ operates their business from two locations in South San Francisco. Candy production is at 250 Hillside Boulevard. The candy is transferred to 228 Shaw Road where it is packaged and distributed. Twenty-four foot (24-foot) bobtail trucks transfer the finished product between the two locations Monday through Friday. Typically five round-trip trips are required each weekday between the two sites. Raw products (syrup and sugars) are delivered to the Hillside Boulevard site three times a week, usually between 5:00 and 7:00 AM (John Ward, project submittals). The Project would increase truck trips two to three per day between the Hillside and Shaw sites. Operations at 250 Hillside Boulevard are conducted in two shifts. The first shift begins at 6:00 AM and ends at 2:30 PM. Approximately 27 employees are on the site during this time period of which 13 are office and management and 14 are production employees. The second shift begins at 2:00 PM, ends at 10:30 PM and includes 11 employees. The requested 8,800 square foot expansion would permit a full second shift consisting of 18 employees and increase the production area from the existing 22,400 square feet to 31,200 square feet (John Ward, site tour, project submittals). Office area would remain at 2,540 square feet; storage at 2,500 square feet; boiler/mechanical, lockers and restrooms at 1,460 square feet for a total of 37,700 square feet. The Shaw Road facility packages and distributes the finished product. Shaw Road is located in the southern portion of the City; within the industrial area of the Lindenville Planning Area. The Shaw facility employs 12 workers in one shift. The requested expansion would streamline operations at Hillside Boulevard and would not require any modifications to the Shaw Road facility.. The following is a brief discussion of existing conditions on the Project site. The site conditions Chapter 3 are discussed in greater detail in of this document. Other General Characteristics Other general characteristics of the Project are identified below.These elements and others are Chapter 3. analyzed in Topography Undocumented fill is located in the area of the proposed expansion. The fill has varying degrees of compaction. The ground level in this area ranges from 52 to 60 feet (unspecified datum) (Geotechnical Investigation Gimbal’s Building Expansion, 250 Hillside Boulevard, South San Francisco, CA, Cornerstone Earth Group, May 28, 2010). The southeast and southwest areas of the site are relatively flat. Steep slopes ring the property boundaries on the Chapter 3.6 Geology and Soils southeast, northwest and southwest (see ). 250--ISP2-5 HILLSIDE BOULEVARDGIMBAL CANDYNITIALTUDY AGE C2:PD HAPTER ROJECT ESCRIPTION Geology The site is in an area of South San Francisco where slope debris (“Qsr”) has been deposited over bedrock of the Franciscan Complex. The Qsr deposits consist of undifferentiated alluvium/colluvium that occurs in areas adjacent to bedrock exposures at the base of slopes and in accumulations in swales and gullies. The sheared rock is predominately sandstone and is exposed at the ground surface over most of the sloping areas of the site. The exposed sandstone is hard and fractured. The colluvium increases in thickness across the site from northeast to southwest (Geotechnical Investigation Gimbal’s Building Expansion, 250 Hillside Boulevard, South San Francisco, CA, Cornerstone Earth Group, May 28, 2010). Chapter 3.6 Geology and Soils See for a detailed analysis of this issue. Hydrology Ground water was not encountered in site borings to 23.7 feet in depth (Geotechnical Investigation Gimbal’s Building Expansion, 250 Hillside Boulevard, South San Francisco, CA, Cornerstone Earth Group, May 28, 2010). Localized seepage of water was noted at the base of the slope along the northwest property line and is thought to be the result of a leaking Chapter 3.6 Geology and Soils and 3.7 irrigation pipe or water main, upslope. See Hydrology and Water Quality for a detailed analysis of this issue. Utilities Water, storm drain, sanitary sewer and telephone and electrical service are on site. New fire water and storm drains would be installed on the site as part of the Project. Cut and Fill The Project will require 940 cubic yards of cut and 15 cubic yards of fill. The site paving is assumed to be 15 inches below grade. The building section is assumed to be 12 inches below finished floor. Building sections assume a five-inch concrete slab, one-inch vapor barrier or Chapter 3.6 Geology and Soils sand and six inches of a Class II aggregate base. See for a detailed analysis of this issue. Proposed Circulation and Access Access to the Project site would remain as is which includes a curb cut off of Hillside Boulevard. The curb cut and site driveway directs cars to the rear (i.e., north and eastern) Chapter 3.15 Traffic and Circulation portion of the property. See for a detailed analysis of this issue. P2-6250--IS AGE HILLSIDE BOULEVARDGIMBAL CANDYNITIAL TUDY C2:PD HAPTER ROJECT ESCRIPTION Construction Schedule and Equipment Overall Project construction is anticipated to consume 37 weeks, from mobilization to complete landscaping installation. Project mobilization would take approximately two weeks. Demolition, grading, site preparation, hauling, installation of site utilities, building foundation, plumbing and retaining wall construction would consume 15 weeks. Building construction would take approximately 18 weeks, fine grading, paving and striping and landscaping would take approximately two weeks. A bulldozer (D-6) with a ripper, compactor and road grader would be used for rough grading, access area and the building addition and parking area. A hoe ram and jackhammer may be Section3.11, Noise required for excavation in very dense soils (see ). Pile driving is not proposed, or analyzed in this document. A 10-wheel dump truck would be used to move excess material from the site, and a water truck to provide dust control on a daily basis. Approximately 925 cubic yards of excess earth material would need to be off hauled from the site during the three weeks of construction associated with the building pad grading and parking access, retaining wall foundation and infrastructure-related grading. Based upon 10 cubic yards per truck, the off haul would equate to a total of 90-95 trucks or approximately 20 to 25 trucks per day for four to five days during the grading period to dispose of excess material. Utility installation would require a backhoe for trenching, manual labor forces to place utility pipes, structures, catch basins, storm water treatment facilities, as well as wheel vibrator on a back hoe for compacting, trench backfilling and multiple concrete trucks for placing concrete structures associated with the building and retaining walls. Multiple 10-wheel dump trucks would also bring trench backfill material to the site from off-site sources for utility trenches and a water truck would be provided for dust control on daily basis. There will likely be a smaller excavator and loader (bobcat type) for construction of storm water treatment facilities and other improvements, providing access to the more difficult areas of the site. Additional equipment for construction would likely include numerous delivery trucks and forklifts to deliver masonry, mechanical equipment, trusses, doors, windows and all other materials used in the building. There would be a few cranes also used to lift trusses and mechanical equipment and roof materials during construction and would be on site during those relatively short durations. There would be other trucks and equipment used to fine grade and Chapter 3.3 Air Quality landscape the Project. See for a detailed analysis of this issue. 2.3 Required Project Entitlements The Project requires the following entitlements and actions by the City of South San Francisco: A Conditional Use Permit: To construct an addition to an existing building; to allow operation of the site between the hours of 12:00 midnight and 6:00am; and to allow a Parking Reduction (South San Francisco Municipal Code-SSFMC 20.480, 20.490, & 20.330); Design Review: To construct an addition to an existing building (SSFM 20.480.002); 250--ISP2-7 HILLSIDE BOULEVARDGIMBAL CANDYNITIALTUDY AGE C2:PD HAPTER ROJECT ESCRIPTION Grading Plan and Permit: For 940 cubic yards of cut and 15 cubic yards of fill; General Plan Amendment: To Section 3.8 of the Land Use Element to allow the expansion of the existing manufacturing operations at the corner of Hillside Boulevard and Spruce Avenue; and, 2.4 General Plan and Zoning Designations General Plan The General Plan land use designation is Community Commercial. The Project is located in the Paradise Valley/Terrabay planning area. Paradise Valley/Terrabay Implementing Policy 3.8-1-4, (General Plan, page 121) states: Ensure that any redevelopment of the site on the north of Hillside Boulevard at the terminus of Linden Avenue includes a supermarket, or a grocery store at least 10,000 square feet in area. Require any new development on the site to be built to the edge of the property along Hillside Boulevard, with transparent storefronts and awnings for pedestrian comfort. A General Plan amendment is needed to modify the existing language to allow redevelopment of the site to continue as a transitional manufacturing use; to allow the continuation and expansion of long-term manufacturing uses and to require any new development to be consistent with the Community Commercial land use designation. The General Plan amendment would be similar to the language in South Spruce Corridor Area B: South and Central Corridor Policy 3.3-I-11. The intent of these policies is to recognize long- term manufacturing uses such as See’s Candy, Orowheat Bread, and Gimbal’s’ Fine Candy, which have been in South San Francisco since the 1950’s, as transitional manufacturing uses that should be retained, and which may require some modification or expansion of the existing facilities Zoning The zoning for the site is Community Commercial (CC). The purpose of the commercial, office and mixed use zoning districts is to provide appropriately located areas for a full range of commercial and office uses to ensure the stability of the City’s economy, provide a variety of goods and services for residents, employees and visitors, and increase employment opportunities close to home for current and future residents consistent with the General Plan. The zoning district encourages a diverse mix of commercial and office businesses and aims to ensure that new development is designed to minimize traffic and parking impacts on surrounding neighborhoods. Development should also be appropriate to the physical characteristics of the site (South San Francisco Municipal Code, Zoning, Chapter 20.090.001 A-F). P2-8250--IS AGE HILLSIDE BOULEVARDGIMBAL CANDYNITIAL TUDY C2:PD HAPTER ROJECT ESCRIPTION The CC zoning district is intended to provide areas for locally oriented retail and service uses, community serving offices, restaurants, retail, public and quasi-public uses, and similar and compatible uses. The maximum floor area ratio (FAR) is 0.5 (South San Francisco Municipal Code, Zoning, Chapter 20.090.001 A-F). The Project proposes a 0.50 FAR. 250--ISP2-9 HILLSIDE BOULEVARDGIMBAL CANDYNITIALTUDY AGE 3 EC NVIRONMENTALHECKLIST This Environmental Checklist (Initial Study) provides the technical analysis and discussion of potential environmental impacts of the proposed Project at 250 Hillside Boulevard, South San Francisco, California. The following checklist is consistent with CEQA Guidelines, Appendix no impact G. A “” response indicates that the Project would not result in an environmental impact in a particular area of interest, either because the resource is not present, or the Project less than significant does not have the potential to cause an effect on the resource. A “” response indicates that, while there may be potential for an environmental impact, the significance of the impact would not exceed established thresholds and/or that there are standard procedures or regulations in place that would apply to the Project and hence no mitigation is required, or that, although there is the potential for a significant impact, feasible mitigation measures are available less than and have been agreed to by the Project Applicant to reduce the impact to a level of “ significantpotentially significant impact .” No “” responses are identified, indicating that the Project would not exceed established thresholds and that therefore no impact that could not be avoided by utilizing standard operating procedures and regulations, program requirements, or design features as identified in this checklist as being incorporated into the Project. Citations for this chapter are contained within the relevant discussion. 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS P3-1 NITIALTUDYAGE C3:EC HAPTERNVIRONMENTALHECKLIST 3.1A ESTHETICS Environmental Factors and Focused Questions for PotentiallyLess Than Less Than Determination of Environmental Impact SignificantSignificantSignificantNo Impact with Impact Impact Mitigation I.AESTHETICS — Would the Project: a) Have a substantial adverse effect on a x scenic vista? b) Substantially damage scenic resources, x including, but not limited to, trees, rock outcroppings, and historic buildings within a state scenic highway? c) Substantially degrade the existing visual x character or quality of the site and its surroundings? d) Create a new source of substantial light or x glare, which would adversely affect day or nighttime views in the area? S/B ETTINGACKGROUND PROJECT SITE The Project site is predominately rectilinear in shape. The majority of the site is less than a 10% slope, 58 feet in elevation, with some steep rises along the undeveloped northern and eastern edges. The site rises approximately 30 feet in elevation within 40 feet of North Spruce Avenue, for a 75% slope in this area. The eastern portion the site rises 40 feet within 65 feet (62% slope). The addition is proposed in the northeast portion of the site and would cut into the hillside at approximately the 65 foot elevation, leaving the majority of the hillside untouched. The area where the addition is proposed is predominately asphalt cluttered with unenclosed storage and haphazardly parked vehicles. No landscaping would be removed to construct the addition, according to the Project drawings. The Project site is accessed by Hillside Boulevard from Sister Cities to the north. Sister Cities Boulevard connects the east and west portions of the City. Both Linden and Spruce Avenues provide access to Hillside Boulevard from the south with Spruce Avenue connecting to School Street at Grand Avenue northward. The Project site is surrounded by single family residential development to the north and west. Heavy commercial and or light industrial land uses flank the Project’s eastern property line. The commercial uses include a linen supply, storage, newspaper publishing and bus repair. The Martin School, the Girls and Boys Club and residential land uses are located west and southwest of the site across Hillside Boulevard and North Spruce Avenue. Two small- service grocery stores and are located in the Project vicinity; one across Hillside Boulevard and one at the corner of Hillside Boulevard and Linden Avenue. Residential land uses are P3-2 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION located behind the commercial uses fronting Hillside Boulevard, to the south, southwest and west. SOUTH SAN FRANCISCO South San Francisco’s suburban character is one of contrasts within a visually well defined setting. San Bruno Mountain to the north, the ridge along Skyline Boulevard to the west, and the San Francisco Bay to the east provide the City with distinctive edges. The City is contained in almost a bowl like fashion by hills on three sides. The City’s terrain ranges from the flatlands along the water to hills east and north. Hills are visible from all parts of the City, and Sign Hill and San Bruno Mountain in the distance are visual landmarks. Much of the City’s topography is rolling, resulting in distant views from many neighborhoods. Geographically, the City is relatively small, extending approximately two miles in a north- south direction and about five miles from east to west. The Project is located in the northernmost planning area of the City and west of Highway 101. The planning area encompasses land on both sides of Sister Cities Boulevard. The General Plan (page 116) notes that the planning area encompasses older development, such as the Project site and surrounding area as well as newer development, that being the residential and office development known as Terrabay/Centennial Towers on the skirt of San Bruno Mountain. The Project site fronts Hillside Boulevard facing mixed-use residential and commercial development (both in zoning and use) across Hillside Boulevard. Gimbal’s moved to and developed the Project site in the early 1950’s. The commercial development on the south side of Hillside Boulevard is similar in age and tenure. Project Description The Project would add approximately 8,800 square feet of floor area to an existing 28,900 square foot building. The applicant, Gimbal’s Fine Candy manufactures candy from this location and delivers it to Shaw Road in South San Francisco for packaging and distribution. The addition would be one story similar to the existing one story concrete building. The height would be 30 feet including the six foot parapet that would screen the rooftop mechanical equipment. The addition would be three to seven feet taller than the existing building. The parapet of the existing building is 20 feet tall, while the pitched roof extends up to about 27 feet. The addition would be on the northeastern portion of the lot and would be built within a foot of the eastern property line.The addition would also be constructed to the toe of the slope in the eastern area and approximately 55 feet from the northern property line. The addition would not be visible from Hillside Boulevard. The grading plans show that 940 cubic yards of cut and 15 cubic yards of fill would be required to construct the Project. 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-3 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST REGULATORY FRAMEWORK Design Review Board Chapter 1.2.1, As identified in the Project is required by law to undergo review by the City’s Design Review Board and incorporate changes by this Board, the Planning Commission and City Council. This review regulates signage, site layout, design and light and glare. General Plan The South San Francisco General Plan identifies maximum heights for structures with respect to potential aircraft hazards as well as areas with special scenic considerations. The Project site is within a special height limit restriction associated with aircraft use. The maximum permitted height is 50 feet. (Figure 2-3, Special Area Height Limitations, General Plan, page 35). The zoning ordinance height limit is 50 feet for primary structures and 20 feet for accessory structures (Table 20.090.003 Development Standards, page 58). The maximum existing height of the Project is 30 feet save for the six foot parapet screening wall, which would be 14 feet below the maximum permitted height. The Project site is not located within a scenic vista or scenic corridor (Figure 2-4 Viewshed, General Plan, page 36 and General Plan Background Report). San Bruno Mountain, approximately 0.25 miles northeast of the Project and Sign Hill, approximately 0.5 miles southeast from the Project provide scenic views of South San Francisco, the Peninsula, the Bay and San Francisco. The Project would not impact these views because its height and mass is similar to surrounding development. Zoning Ordinance Chapter 20.300.008 (Zoning, South San Francisco Municipal Code) Lighting and Illumination, identifies prescriptive standards with respect to lighting and glare. Section 20.300.010, Section G, Lighting and Glare, subsection 3 prohibits incidental or direct glare from site operations to be visible beyond the boundaries of the site. Figure 20.300.008 (B)(4) Shielding, prescribes cutoff luminaries to prevent off site light seepage. Chapter 20.300.005, Fences and Walls, addresses the use of certain materials visible from public streets, prohibiting the use of chain link fencing and untextured concrete block. I MPACTS a) Scenic Vistas Significance Criteria: For the purpose of assessing impacts of a project on scenic vistas, the threshold of significance is exceeded when a project would result in the obstruction of a designated public vista, or in the placement of an arguably offensive or negative-appearing project within such a vista.Any clear conflict with a General Plan policy or other adopted planning policy regarding scenic vistas would also be considered a potentially significant adverse environmental impact. P3-4 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION The Project is not located within a formally designated public vista, nor would it result in the obstruction of a formally designated public vista (Figure 2-4 Viewshed, General Plan, page 36). The Project would not conflict with an adopted planning policy regarding scenic vistas. no impactwith an adopted planning policy regarding Therefore, the Project would have scenic vistas . b) Scenic Resources and Scenic Routes Significance Criteria:For the purposes of assessing impacts of the Project on scenic resources, the threshold of significance is exceeded by any project-related action that would substantially damage scenic resources (i.e., trees, rock outcroppings, and historic buildings within a state [or local] scenic highway). The Project is not within and would not be visible from a state scenic highway. The existing building is over 50 years of age and as such could pose historic significance. However, the building is not identified on Figure 7-3 Designated Historic Resources in the City’s General Plan (page 241). The addition would be concrete keeping with the existing construction consisting of concrete. The Project site does not contain historic buildings or trees or no impact on scenic significant rock outcroppings. Therefore the Project would have resources . c) Visual Character Significance Criteria:The project would have a significant environmental impact if it were to substantially degrade the existing visual character or quality of the site and its surroundings. The existing building is visible from the public right of way, Hillside Boulevard, but is not an identified viewpoint (Figure 2-4 Viewshed, General Plan, page 36). The addition (i.e., Project) would not be visible from Hillside Boulevard. Although not a viewpoint, the Project does engender some importance as it would be visible from a small portion of North Spruce Avenue, a public right-of-way, as one travels up North Spruce Avenue from Hillside Boulevard. The site and the Project addition is and would be visible from privately held views from residential backyards along North Spruce Avenue and Leo Circle. The perimeter of the site is marked with a chain link fence which is visible from public right-of-ways. The site is currently developed and as such occupants of the residential uses have overseen the Project site in a developed form since the 1950’s. Some storage on the site is outside enclosed buildings and visible to the adjacent residential uses. The vantage point is due to the topography, described above, as the elevation rises considerably from the Project site to the residential areas. The zoning ordinance, Chapter 20.300.005, Fences and Walls subsections C. 2 and 3, prohibits the use of chain link fences that are visible from public streets. The chain link fence is visible from North Spruce Avenue. The fence is a legal non-conforming structure as the zoning code was amended in 2010 to prohibit such fencing. The expansion of the building provides the City with the opportunity to require a different type of fencing or more 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-5 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST landscaping to screen the fence. These types of issues will be addressed during entitlement review, as they are not environmental issues. The Project does not propose the use of untextured concrete block. The Project proposes to improve the landscaping by restoring and augmenting existing landscaping (Project submittals, landscape plan, Callandar Associates, June 16, 2010). The Design Review Board (DRB) reviewed the Project on July 20, 2010 and has required more significant landscaping at the toe of the slope, the addition of street trees, the replacement of the Holly Oak varietal with an evergreen from the City’s suggested planting list, the addition of Toyon shrubs and consideration of replacing the grass along the Hillside Boulevard frontage with native landscaping. The DRB has required a revised landscape plan for DRB landscape architect review and approval. The revised plan would be reviewed and approved prior to or as a part of building permit issuance, should the Project be approved. The Project would result in repaving the parking area which is at the end of its design life. The paved parking area would be striped in order to assign and organize parking areas. The additional warehouse area would provide area to store items inside the building that are currently stored outside in the open. The yard area of the Project would be organized and improved over existing conditions with parking occurring in designated areas as opposed to haphazardly and the storage of items inside the addition. The reorganization of site layout would result in an improvement over exiting conditions. The City will levy a condition of Project approval to require property maintenance and interior storage of items should the Project be approved (Associate Planner, Billy Gross, March 10, 2011). The condition, in addition to the City’s Municipal Code which prohibits exposed storage of items, would serve to clean-up site conditions. The building expansion would provide the requisite area to do no impact on visual character so. Therefore the Project would have . d) Light or Glare Significance Criteria:Project related creation of any new source of substantial light or glare that would adversely affect day or nighttime views in the area would be regarded as a significant environmental impact. Lighting design, as a matter of law, is required to comply with Chapter 20.300.008, Lighting and Illumination and Figure 20.300.008 (B)(4), Shielding, which prescribes the type of light . No substantial increase of light and glare shielding to prevent glare and offsite seepage emanating from the Project site is anticipated, therefore the impact would be considered less than significant . Finding : The Project would not have an impact on the aesthetics or scenic quality on the Project site or in the Project area. There would be no individual or cumulative impacts with respect to aesthetic or visual quality associated with the Project. The Project’s new construction at 30 feet with areas of parapet screening rooftop mechanical to 36 feet would not exceed the City’s 50 foot height limit. The Project would clean-up and organize site layout and parking and afford indoor storage of items. P3-6 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION 3.2AR GRICULTURAL ESOURCES Environmental Factors and Focused Questions for PotentiallyLess Than Less Than Determination of Environmental Impact SignificantSignificantSignificantNo Impact with Impact Impact Mitigation II.AGRICULTURE RESOURCES: In determining whether impacts to agricultural resources are significant environmental effects, lead agencies may refer to the California Agricultural Land Evaluation and Site Assessment Model (1997) prepared by the California Dept. of Conservation as an optional model to use in assessing impacts on agriculture and farmland. Would the Project: a) Convert Prime Farmland, Unique x Farmland, or Farmland of Statewide Importance (Farmland), as shown on the maps prepared pursuant to the Farmland Mapping and Monitoring Program of the California Resources Agency, to non-agricultural use? b) Conflict with existing zoning for x agricultural use, or a Williamson Act contract? c) Involve other changes in the existing x environment which, due to their location or nature, could result in conversion of Farmland, to non-agricultural use? S/B ETTINGACKGROUND The Project site was graded and developed in the early 1950’s and has supported Gimbal’s candy manufacturing since its development. I MPACTS a – c) Farmland Impacts Significance Criteria: The Project would have a significant environmental impact if it would result in the conversion of farmland to non-agricultural use, conflict with current zoning for agricultural use or the provisions of a current Williamson Act contract, or involve any environmental changes that could result in the conversion of farmland currently in agricultural uses to non-agricultural uses. No Prime Farmlands, Unique Farmlands or Farmlands of Statewide Importance have been identified at, or around, the Project site. No part of the Project site is under a Williamson Act contract and no part of the Project site or surrounding area is zoned for agricultural uses (South San Francisco General Plan and Zoning Ordinance) Therefore, the Project would no impact haveon agricultural resources. 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-7 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST Finding: The Project would not adversely affect any existing agricultural operations. The Project site is not planned or zoned for agricultural use and is not in agricultural use. The Project would not impact agricultural resources individually or cumulatively. 3.3AQ IRUALITY Environmental Factors and Focused Questions for PotentiallyLess Than Less Than Determination of Environmental Impact SignificantSignificantSignificantNo Impact with Impact Impact Mitigation III.AIR QUALITY — Where available, the significance criteria established by the applicable air quality management or air pollution control district may be relied upon to make the following determinations. Would the Project: a) Conflict with or obstruct implementation x of the applicable air quality plan? b) Violate any air quality standard or x contribute substantially to an existing or projected air quality violation? c) Result in a cumulatively considerable net x increase of any criteria pollutant for which the project region is non-attainment under an applicable federal or state ambient air quality standard (including releasing emissions, which exceed quantitative thresholds for ozone precursors)? d) Expose sensitive receptors to substantial x pollutant concentrations? e) Create objectionable odors affecting a x substantial number of people? This air quality analysis is based on an air quality assessment that was prepared for the Appendix A Project (see ) that was performed using methodologies and assumptions recommended within the existing and proposed air quality impact assessment guidelines of 1 the Bay Area Air Quality Management District (BAAQMD). This section describes existing air quality, air pollutant construction and operations impacts, and air quality Chapter 1, Section 1.2.1 Conditions of Approval (see ) that are required to be implemented as part of the Project pursuant to the City of South San Francisco’s project review process. The BAAQMD Board approved and adopted new revised CEQA Air Quality Guidelines on June 2, 2010. 1 P3-8 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION S/B ETTINGACKGROUND Climate The peninsula region of the Bay Area Air Basin (Bay Area) extends from the area northwest of San Jose to the Golden Gate. The Santa Cruz Mountains extend up the center of the peninsula, with elevations exceeding 2,000 feet at the south end, and gradually decreasing to an elevation of 500 feet in South San Francisco, where it terminates. San Francisco is at the north end of the peninsula and because most of the topography of San Francisco is below 200 feet, the marine layer is able to flow across most of the city, making its climate relatively cool and windy (Bay Area Air Quality Management District. Bay Area Climatology http://www.baaqmd.gov/Divisions/Communications-and-Outreach/Air-Quality-in-the-Bay- Area/Bay-Area-Climatology.aspx, accessed February 4, 2011 (BAAQMD, 2011). Meteorological data collected at the San Francisco International Airport (SFO), which is approximately four miles southeast of the Project site, are representative of general conditions in South San Francisco. Average maximum and minimum winter (i.e., January) temperatures at SFO are 56 and 42 ºF, respectively, while average summer (i.e., July) maximum and minimum temperatures are 72 and 54 ºF, respectively.Precipitation at SFO averages approximately 20 inches per year (Western Regional Climate Center, 2010. Local Climate Data Summaries for San Francisco International Airport, California. Obtained online (http://www.wrcc.dri.edu/cgi-bin/clilcd.pl?ca23234 on February 4, 2011 (BAAQMD, 2011). Annual average wind speeds range from five to 10 miles per hour (mph) throughout the peninsula. The east side of the mountains has a westerly wind pattern; however, it is influenced by local topographic features. That is, a few hundred feet rise in elevation will induce flow around that feature instead of over it during stable atmospheric conditions. This can change the wind pattern by as much as 90 degrees over short distances. On mornings without a strong pressure gradient, areas on the east side of the peninsula often experience eastern flow in the surface layer, induced by upslope flow on the east-facing slopes and by the bay breeze. The bay breeze is rarely seen in the afternoon because the stronger sea breeze 1 dominates the flow pattern (BAAQMD, 2010). Sensitive Receptors People that are more susceptible to the effects of air pollution within the general population include children, elderly, and those that suffer from certain illnesses or disabilities. Therefore, schools, convalescent homes, and hospitals are considered to be sensitive receptors to air pollution. Residential areas are also considered sensitive to poor air quality because people usually stay home for extended periods of time, which results in greater exposure to localized air pollutants. The Project site is surrounded by single family residential development to the north and east. The closest residence is approximately 150 feet to the northeast of the Project. Heavy commercial and or light industrial land uses flank the Project’s southern property line. The commercial uses include a linen supply, storage, newspaper publishing and bus repair. The Martin Elementary School, the Girls and Boys Club and residential land uses are located west of the site across Hillside Boulevard and 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-9 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST North Spruce Avenue. Martin Elementary School is located approximately 500 feet to the west of the Project. Residential land uses are located behind the commercial uses fronting Hillside Boulevard, to the south and southwest. REGULATORY FRAMEWORK Criteria Pollutants The BAAQMD monitors and regulates air quality pursuant to the Federal Clean Air Act, as amended, and the 1988 California Clean Air Act. The BAAQMD adopts and enforces controls on stationary sources of air pollutants through its permit and inspection programs. Other BAAQMD responsibilities include monitoring air quality, preparation of clean air plans, and responding to citizen air quality complaints. The BAAQMD has also published CEQA Air Quality Guidelines, June 2010, to assist lead agencies in evaluating air quality impacts of projects and plans proposed in the Bay Area. CURRENT AIR QUALITY The BAAQMD operates a regional monitoring network for ambient concentrations of six criteria pollutants. Currently, the criteria pollutants of most concern in the Bay Area are ozone and particulate matter. The monitoring station closest to the Project site is in San Francisco on Arkansas Street. This air quality monitoring station monitors levels of ozone, particulate matter in the form of PM10 and PM2.5, carbon monoxide, nitrogen dioxide, and Air Quality Table 1 sulfur dioxide). summarizes the most recent three years of data published by the California Air Resources Board (ARB) for the San Francisco, Arkansas Street air monitoring station, which is approximately eight miles to the north-northeast of the project site. The State 24-hour PM10 standard was exceeded two times in 2007. The federal 24-hour PM2.5 standard was exceeded five times in 2007 and once in 2009. No other State or federal air quality standards were exceeded during the three year period. AIR QUALITYTABLE 1 AIR QUALITY DATA SUMMARY SAN FRANCISCO, ARKANSAS STREET, CA, 2007 – 2009 PollutantStandardDays Standard Exceeded 200720082009 Ozone State1–Hour 000 Ozone Federal 8–Hour 000 Ozone State8–Hour 000 PM10Federal 24–Hour 000 PM10State24–Hour 200 PM2.5Federal 24–Hour 501 Carbon Monoxide State/Federal 000 8–Hour Nitrogen Dioxide State 1–Hour 000 Sulfur Dioxide State 24-Hour 000 Source: Bay Area Air Quality Management District, Annual Bay Area Air Quality Summaries, 2011. P3-10 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION The Bay Area is currently designated “nonattainment” for State and national (1-hour and 8- hour) ozone standards, for the State PM10 standards, and for State and national (annual average and 24-hour) PM2.5 standards. The Bay Area is designated “attainment” or “unclassified” with respect to the other ambient air quality standards. I MPACTS a)Conflicts with the Current Air Quality Plan Significance Criteria: Any project that would not support the goals of the 2010 Bay Area Clean Air Plan (CAP) would not be considered consistent with the 2010 CAP. On September 15, 2010, the BAAQMD adopted the 2010 CAP. The 2010 Bay Area CAP updates the Bay Area 2005 Ozone Strategy in accordance with the requirements of the California Clean Air Act (CCAA) to implement all feasible measures to reduce ozone; provide a control strategy to reduce ozone, particulate matter, air toxics, and greenhouse gas emissions in a single, integrated plan; and establish emission control measures to be adopted or implemented in the 2010 through 2012 timeframe. The primary goals of the 2010 Bay Area CAP are to: • Attain air quality standards; • Reduce population exposure and protecting public health in the Bay Area; and • Reduce GHG emissions and protect the climate. The recommended measure for determining project support of these goals is consistency with BAAQMD-approved CEQA thresholds of significance. Therefore, if approval of a project would not result in significant and unavoidable air quality impacts after the application of all feasible mitigation, the Project would be considered consistent with the 2010 Bay Area CAP. The Project would be consistent with the 2010 Bay Area CAP, and thus, the impact is less than significant . b and c) Violation of Standards and a Cumulatively Considerable Net Increase Significance Criteria: The Project would have a significant environmental impact if it would exceed BAAQMD’s construction and/or operational mass emission thresholds for exhaust emissions and/or if appropriate air pollutant control measures are not implemented. The BAAQMD CEQA Air Quality Guidelines recommend that cumulative air quality effects from criteria air pollutants also be addressed by comparison to the mass daily and annual thresholds. These thresholds were developed to identify a cumulatively considerable contribution to a significant regional air quality impact. Air quality impacts are associated with both construction and operation of a project. BAAQMD rules and regulations govern certain aspects of the construction phase of projects. BAAQMD regulations applicable to the construction of the project relate to portable equipment (e.g., gasoline- or diesel-powered engines used for power generation, pumps, 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-11 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST compressors, and cranes), architectural coatings, fugitive dust, and paving materials. Project construction and operation impacts are discussed below. Construction Related Impacts The Project would involve the construction of a building addition and parking. The Project is designed to expand Gimbals Candies’ existing manufacturing facility at 250 Hillside Boulevard in South San Francisco, California. An 8,800 square foot addition to an existing 28,900 square foot building is being requested. Approximately 940 cubic yards of cut and 15 cubic yards of fill is required (i.e., a total of 955 cubic yards of earth movement). Grading and site preparation is anticipated to take approximately eight weeks. Types of equipment on the site during this phase of construction would be a grader, skip loaded, front loader, standard asphalt paving equipment and excavator. Project construction would take approximately an additional six months to complete, for a total construction period of seven months. Types of equipment on the site during this phase of construction would be mobile cranes, haul trucks, concrete trucks delivery trucks and private vehicles. Project construction would generate short-term emissions of criteria pollutants, including fugitive dust and equipment exhaust emissions. The recently adopted BAAQMD CEQA Air Quality Guidelines recommend quantification of construction-related exhaust emissions and comparison of those emissions to significance thresholds. Therefore, this analysis includes quantification of construction emissions and comparison of the emissions to the BAAQMD’s construction significance thresholds. The URBEMIS 2007 Version 9.2.4 model was used to Appendix A quantify project construction emissions of criteria pollutants (see for emissions Air Quality Table 2 estimate assumptions). provides the estimated short-term construction emissions that would be associated with the Project and compares those emissions to the BAAQMD’s thresholds for construction exhaust emissions. Total construction emissions Therefore, Project impacts would be well below the BAAQMD significance thresholds. that would be associated with construction related exhaust emissions would be less than significant. AIR QUALITY TABLE 2 PROJECT CONSTRUCTION CRITERIA POLUTANT EMISSIONS (pounds per day) Emission Sources ROGNOxPM10PM2.5CO Total Construction Emissions 36352222 Significance Thresholds 54548254--- Significant Impact? NoNoNoNoNo Notes: Refer to Appendix A for all assumptions used as input to the URBEMIS2007 model. Although construction-related emissions would not exceed the BAAQMD’s significance thresholds for criteria pollutants, the BAAQMD’s CEQA Guidelines recommend the implementation of Basic Construction Mitigation Measures for all projects, whether or not significant impacts have been identified. The City of South San Francisco has required P3-12 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION BAAQMD measures to be implemented into project construction as a matter of law (see Introduction, Chapter 1, Section 1.2.2 ). Long-Term Operational Impacts The URBEMIS2007 (Version 9.2.4) model was used to estimate emissions that would be associated with natural gas space heating, water heating, and landscape maintenance emissions expected to occur due to implementation the Project. Emission factors obtained from ARB’s EMFAC2007 emissions model were used to estimate emissions that would be associated with employee vehicles and delivery trucks. Estimated operational daily and annual emissions that would be associated with the Project Air Quality Tables 3 and 4 are presented in , and are compared to BAAQMD’s thresholds of As indicated, the estimated operational emissions that would be associated significance. with the Project would be below the BAAQMD’s significance thresholds and would be less than significant. AIR QUALITY TABLE 3 PROJECT DAILY OPERATIONAL CRITERIA POLUTANT EMISSIONS (pounds per day) Emission Sources ROGNOxPM10PM2.5CO Area Sources 0.20.80.010.012.2 Mobile Sources 0.40.50.90.24.4 Total0.61.40.90.26.6 Significance 54548254--- Thresholds Significant NoNoNoNoNo Impact? Notes: Refer to Appendix A for all assumptions used as input to estimate emissions. Values reflect rounding. AIR QUALITY TABLE 4 PROJECT ANNUAL OPERATIONAL CRITERIA POLUTANT EMISSIONS (tons per year) Emission Sources ROGNOxPM10PM2.5CO Area Sources 0.030.20.000.000.3 Mobile Sources 0.10.10.20.030.8 Total0.10.20.20.031.0 Significance 10101510--- Thresholds Significant NoNoNoNoNo Impact? Notes: Refer to Appendix A for all assumptions used as input to estimate emissions. The California Department of Transportation (Caltrans) screening analysis method states that projects would not create a violation of the CO standard if intersections affected by the Project would not be reduced from Level of Service A through D to E or F (i.e., significantly 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-13 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST deteriorated). The Project is expected to accommodate three additional delivery trucks and three additional employees during the second shift, a minimal number compared to the regional and local roadways surrounding the Project. Therefore, impacts that would be less than significant associated with long-term operational exhaust emissions would be . Cumulative Impacts The BAAQMD CEQA Air Quality Guidelines recommend that cumulative air quality effects from criteria air pollutants also be addressed by comparison to the BAAQMD’s mass daily and annual significance thresholds. As shown in Air Quality Tables 2 through 4, Project- Therefore, the Project would not be related emissions would be below the thresholds. cumulatively considerable and cumulative impacts would be less than significant . d) Impacts to Sensitive Receptors Significance Criteria: The significance of impact to sensitive receptors is dependent on the chance of contracting cancer from exposure to toxic air contaminants (TACs) or of having adverse health effects from exposure to non-carcinogenic TACs. A project is considered to be significant if the incremental cancer risk at a receptor exceeds 10 in a million. For cumulative analysis of cancer risk, BAAQMD recommends that the risks from all sources within a 1,000 foot radius of the source or receptor be assessed and compared to a cumulative increased risk threshold of 100 in one million. The non-cancer hazard index significance threshold of 1.0 is defined in the BAAQMD CEQA Air Quality Guidelines. For cumulative analysis of non-cancer hazard index, BAAQMD requires that the hazards from all sources within a 1,000 foot radius of the source or receptor be assessed and compared to a cumulative hazard index threshold of 10. Because emissions of PM2.5 are associated with health risks, the BAAQMD has established a separate significance threshold for PM2.5 to protect public health. For individual projects, the BAAQMD significant threshold for PM2.5 impacts is an average annual increase of 0.3 3 µg/m. For cumulative analysis, BAAQMD recommends that the PM2.5 concentrations from all sources within a 1,000 foot radius of the receptor be assessed and compared to a 3 cumulative threshold of an average annual increase of 0.8 µg/m. Cancer Risk Cancer risk is defined as the lifetime probability of developing cancer from exposure to carcinogenic substances. Cancer risks are expressed as the chances in one million of contracting cancer, for example, ten cancer cases among one million people exposed. Following HRA guidelines established by California Office of Environmental Health Hazard Assessment (OEHHA) and BAAQMD’s Health Risk Screening Analysis Guidelines, incremental cancer risks (i.e., the additional risk above baseline levels attributable to the Project) were calculated by applying toxicity factors to modeled TAC concentrations in order to determine the inhalation dose (milligrams per kilogram of body weight per day [mg/kg- Appendix A day]). See for details. P3-14 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION As a result of construction activities, the maximum cancer risk for a residential receptor (approximately 150 feet to the northwest) would be 0.7 per million. The maximum cancer risk for the nearest school (Martin Elementary School) receptor would be less than 0.1 per million. The maximum cancer risk for a worker receptor (adjacent to the Project to the southeast) would Thus, the cancer risk due to construction activities alone is below be less than 0.1 per million. the BAAQMD threshold of 10 per million and would be less than significant. The maximum cancer risk from operations at a residential receptor would be 0.3 per million. The maximum cancer risk from operations at the nearest school receptor would be less than 0.1 per million. The maximum cancer risk from operations at a worker receptor would be less than The cancer risk due to operations would be well below the BAAQMD 0.1 per million. threshold of 10 per million and would be less than significant . The maximum cancer risks from construction and operations of the Project would be well below the BAAQMD threshold of 10 per million and less than significant. Non-Cancer Health Impacts Both acute (short-term) and chronic (long-term) adverse health impacts unrelated to cancer are measured against a hazard index (HI), which is defined as the ratio of the predicted incremental exposure concentration from the Project to a published reference exposure level (REL) that could cause adverse health effects. The RELs are published by OEHHA based on epidemiological research. The ratio (referred to as the Hazard Quotient [HQ]) of each non- carcinogenic substance that affects a certain organ system is added to produce an overall HI for that organ system. The overall HI is calculated for each organ system. If the overall HI for the highest-impacted organ system is greater than 1.0, then the impact is considered to be significant. The chronic reference exposure level for DPM was established by the California OEHHA as 5g/m3. There is no acute reference exposure level for DPM. Furthermore, diesel fuel (unlike gasoline) does not emit significant amounts of organic vapors such as acrolein, which has an established acute REL. As a result of Project-related construction and operations, the chronic HI would be less than The chronic HI would be well below the BAAQMD threshold of 1 and the impact of 0.1. the Project would therefore be less than significant. PM2.5 Concentration Dispersion modeling was also used to predict exposure of sensitive receptors to Project- related concentrations of PM2.5. Because emissions of PM2.5 are associated with health risks the BAAQMD has established a separate significance threshold to protect public health. The BAAQMD guidance suggests inclusion of PM2.5 exhaust emissions only in this analysis (i.e., fugitive dust emissions are addressed under BAAQMD dust control measures to be implemented into Project construction). The maximum annual PM2.5 concentration as a 3 The annual PM2.5 result of Project construction and operations would be 0.09 µg/m. 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-15 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST concentration due to implementation of the Project would be well below the BAAQMD 3 threshold of 0.3 µg/m, and hence is considered less than significant. Cumulative Impacts BAAQMD has published health risk information for major roadways within San Mateo County, including State Route 101; located approximately 1,400 feet to the east and south of the Project. The BAAQMD also developed a geo-referenced database of permitted TAC emissions sources throughout the Bay Area, and has developed the Stationary Source Risk & Hazard Analysis Tool for estimating cumulative health risks from permitted sources. The cumulative health impacts from the roadway were based on conservative (overestimation) estimates within BAAQMD’s Roadway Screening Tables and analysis using EPA’s AERMOD dispersion model coupled with traffic volume data from CalTrans. Air Quality Table 5 lists the BAAQMD-permitted facilities and major roadways within 1,000 feet of the Project. Air Quality Table 5 also shows the cumulative cancer risk, chronic 3 hazard risk, acute health risk, and PM2.5 concentrations (in µg/m) associated with these The total cumulative cancer risk, facilities (developed by BAAQMD), as with the Project. chronic hazard, and PM2.5 concentrations associated with the nearby major roadways and the permitted facilities would be less than significant. AIR QUALITY TABLE 5 CUMULATIVE IMPACTS SiteFacility Type Address CancerChronicAcutePM2.5 #RiskImpactImpactConcentrati on 8956Fuel901 Airport Road 1.20.001 0.0003 0 Dispensing 1117Fuel899 Airport Road 1.60.001 0.00000 0Dispensing4 1807Emergency 830 Dubuque Ave. 0.80.0003 00.001 4Generator Permitted 3.60.002 0.0003 0.001 Sources Total Route 10114.7<0.1<0.1 0.48 s Total 14.7<0.1<0.1 0.48 Roadway Proec1.0<0.1<0.1 0.09 jt Grand Total19.3<0.1<0.1 0.57 BAAQMD Cumulative Significance 10010100.8 Criteria Significant Cumulative Impact? NoNoNoNo e) Odor Impacts Significance Criteria: The BAAQMD’s significance criteria for odors are more subjective and are based on the number of odor complaints generated by a project. Generally, the BAAQMD considers any project with the potential to frequently expose members of the P3-16 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION public to objectionable odors to cause a significant impact. Projects that would site a new odor source or a new receptor farther than the applicable BAAQMD-established screening distances from an existing receptor or odor source, respectively, would not likely result in a significant odor impact. An odor source with five more confirmed complaints per year averaged over three years is considered to have a significant impact on receptors within the screening distances. Typical odor sources of concern include wastewater treatment plants, sanitary landfills, transfer stations, composting facilities, petroleum refineries, asphalt batch plants, chemical manufacturing facilities, fiberglass manufacturing facilities, auto body shops, rendering plants, and coffee roasting facilities. Diesel-fueled construction equipment would generate some odors associated with diesel exhaust; however, these emissions typically dissipate quickly and would be unlikely to affect a substantial number of people. The Project operations include an expanded warehouse space, administrative office, and light industry, Therefore, odor impacts which would not be expected to create or increase odors. associated with construction and operation of the Project would be less than significant. Finding: The Project would not result in a significant impact to air quality and would not result in a cumulatively considerable net increase of criteria non-attainment pollutants (ozone precursors and PM10). The City’s building permit procedure captures the BAAQMD permitting regulations, as well as BAAQMD’s basic control measures. No mitigation measures, above those required by the City as a matter of law, are identified in this Initial Study. 2.7GGE REENHOUSEASMISSIONS PotentiallyLess Than Less Than Environmental Factors and Focused Questions for SignificantSignificantSignificantNo Determination of Environmental Impact with Impact Impact Impact Mitigation VII. GREENHOUSE GAS EMISSIONS —Would the Project: a) Generate greenhouse gas emissions, either X directly or indirectly, that may have a significant impact on the environment? b) Conflict with an applicable plan, policy or x regulation adopted for the purpose of reducing the emissions of greenhouse gases? Gases that trap heat in the atmosphere are referred to as greenhouse gas (GHG) emissions because they capture heat radiated from the sun as it is reflected back into the atmosphere, similar to a greenhouse. The accumulation of GHG emissions has been implicated as a driving force for Global Climate Change (GCC). Definitions of climate change vary between and across regulatory authorities and the scientific community, but in general can be described as the changing of the Earth’s climate caused by natural fluctuations and the 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-17 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST impact of human activities that alter the composition of the global atmosphere. Both natural processes and human activities emit GHG emissions. The major concern is that increases in GHG emissions are causing GCC. GCC is a change in the average weather on earth that can be measured by wind patterns, storms, precipitation, and temperature. Although there is disagreement as to the speed of global warming and the extent of the impacts attributable to human activities, the vast majority of the scientific community now agrees that there is a direct link between increased GHG emissions and long term global temperature increases. Potential global warming impacts in California may include, but are not limited to, loss in snow pack, sea level rise, more extreme heat days per year, more high ozone days, more large forest fires, and more drought years. Secondary effects are likely to include a global rise in sea level, impacts to agriculture, changes in disease vectors, and changes in habitat and biodiversity. The accumulation of GHGs in the atmosphere regulates the Earth’s temperature and emissions from human activities, such as electricity production and motor vehicles, have elevated the concentration of GHG emissions in the atmosphere. This accumulation of GHG emissions has contributed to GCC as an increase in the temperature of the Earth’s atmosphere. GHGs include all of the following gases; carbon dioxide (CO), methane (CH), 24 nitrous oxide (NO), hydrofluorocarbons, perfluorocarbons, nitrogen trifluroide (NF3), and 2 sulfur hexafluoride (California Health and Safety Code section 38505(g)). CO is the 2 reference gas for climate change because it gets the most attention and is considered the most important GHG. To account for the warming potential of GHGs, GHG emissions are often quantified and reported as CO equivalents (COe). The effects of GHG emission sources 22 (i.e., individual projects) are reported in metric tons per year of COe. 2 California and Bay Area GHG Emissions GHG emissions contributing to GCC are attributable in large part to human activities associated with the industrial/manufacturing, utility, transportation, residential, and 2 agricultural sectors. The State of California alone produces about 2% of the entire world’s GHG emissions, with major emitting sources here including fossil fuel consumption from transportation (41%), industry (23%), electricity production (20%), and agricultural and forestry (8%). The State of California is looking at options and opportunities for drastically reducing GHG emissions with the hope of thereby delaying, mitigating, or preventing at least some of the anticipated impacts of GCC on California communities. In 2008, the Bay Area Air Quality Management District (BAAQMD) completed a baseline inventory of GHG emissions for the year 2007. According to that inventory, 102 million 3 GHG EmissionsTable 1 metric tons of COe were emitted in the Bay Area that year. shows 2 the emissions breakdown by pollutant. California Energy Commission (CEC). California’s Major Sources of Energy. 2 http://energyalmanac.ca.gov/overview/energy_sources.html, 2008. 3 Bay Area Air Quality Management District (BAAQMD). Source Inventory of Bay Area Greenhouse Gas Emissions, December 2008. P3-18 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION GHGEMISSIONSTABLE1 2007 BAY AREA COe EMISSIONS BY POLLUTANT 2 COe (Million Metric 2 PollutantPercentageTons/Year) Carbon Dioxide 91.493.7 Methane2.42.5 Nitrous Oxide 2.22.3 HFC, PFC, SF6 3.94.0 Total100102.6 Source: Bay Area Air Quality Management District, 2008. The Bay Area’s transportation sector contributes 40% of the COe GHG emissions, followed 2 by industrial and commercial sources (34%), electricity and co-generation (15%), residential fuel usage (7%), off-road equipment (3%), and agriculture and farming (1%). Bay Area GHG EmissionsChart 1 emissions by sector are illustrated in . Absent policy changes, Bay Area GHG emissions are expected to grow at a rate of 1.4% a 4 year due to population growth and economic expansion. Economic activity variations and the fraction of electric power generation in the region will cause year-to-year fluctuations in GHG EmissionsChart 2 the emissions trends. shows the emission trends by major sources for the period of 1990 to 2029. GHGEMISSIONSCHART1 BAGGES,PT AYREA REENHOUSE ASMISSIONS BY ECTOR AS A ERCENT OF OTAL E MISSIONS Source: Bay Area Air Quality Management District, 2008. Ibid. 4 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-19 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST GHG EMISSIONS CHART 2 BAGGETS AYREA REENHOUSE ASMISSIONSRENDS BY ECTOR Source: Bay Area Air Quality Management District, 2008. Greenhouse Gas Emissions in South San Francisco In 2005, the City of South San Francisco emitted approximately 526,766 metric tons of GHG EmissionsTable 2 COe. As shown in , the transportation sector is the largest 2 contributor to GHG emissions, responsible for 46% of all emissions, with emissions from cars traveling on State highways within the city almost twice as much as emissions from cars traveling on city roads. This reflects the regional nature of trip making in South San Francisco and through-traffic through the city.The commercial/industrial sector accounts for approximately 35% of emissions, while the residential sector accounts for 13% of total emissions. Emissions from natural gas usage are higher than emissions from electricity usage for both the residential and commercial sectors. The waste sector accounts for 6% of total emissions. P3-20 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION GHG EMISSIONS TABLE 2 2005 SOUTH SAN FRANCISCO COMMUNITY EMISSIONS 2005 GHG Emissions GHG Emissions 1 Sector(CO2e)(% CO2e) Residential70,059 13% Electricity22,2584% Natural Gas 47,801 9% Commercial/Industrial185,240 35% Electricity80,723 15% Natural Gas 104,517 20% Transportation240,257 46% City Roads (Non-Highway) 87,406 17% State Highways 152,851 29% 2 Waste31,210 6% Solid Waste 31,210 6% Total526,766 100% GHG Emissions Per Capita 8.5 1. Emission Factors and Calculation Methods: ICLEI, Community Greenhouse Gas Inventory Methodology for Bay Area Governments, prepared as part of the BAAQMD-ICLEI Workshop, December 6, 2007. 2. EPA WARM Model was used. Model accessed: http://www.epa.gov/climatechange/wycd/waste/calculators/Warm_Form.html, May 2009. Source: Dyett & Bhatia, 2009; ABAG Projections 2007; City of South San Francisco/ ICLEI, 2009. REGULATORY FRAMEWORK Federal Regulations Global Change Research Act (1990) (15 United States Code Sections 2921 et seq.) In 1990, Congress passed and the President signed Public Law 101-606, the Global Change Research Act. The purpose of the legislation was: “…to require the establishment of a United States Global Change Research Program aimed at understanding and responding to global change, including the cumulative effects of human activities and natural processes on the environment, to promote discussions towards international protocols in global change research, and for other purposes.” To that end, the Global Change Research Information Office (GCRIO) was established in 1991 (it began formal operation in 1993) to serve as a clearinghouse of information. The Act requires a report to Congress every four years on the environmental, economic, health and safety consequences of climate change; however, the first and only one of these reports to-date, the National Assessment on Climate Change, was not published until 2000. In February 2004, operational responsibility for GCRIO shifted to the U.S. Climate Change Science Program. 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-21 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST Energy Policy Act of 2005 The Energy Policy Act of 2005 seeks to reduce reliance on non-renewable energy resources and provide incentives to reduce current demand on these resources. For example, under the Act, consumers and businesses can attain federal tax credits for purchasing fuel-efficient appliances and products. Driving fuel-efficient vehicles and installing energy-efficient appliances can provide many benefits, such as lower energy bills, increased indoor comfort, and reduced air pollution; therefore businesses are eligible for tax credits for buying hybrid vehicles, building energy efficient buildings, and improving the energy efficiency of commercial buildings. Additionally, tax credits are given for the installation of qualified fuel cells, stationary microturbine power plants, and solar power equipment. Massachusetts v. EPA (2007) (549 U.S. 497) In this U.S. Supreme Court case, 12 states, three cities, and 13 environmental groups filed suit that the U.S. Environmental Protection Agency (EPA) should be required to regulate CO and other GHGs as pollutants under the federal Clean Air Act. In April 2007, the U.S. 2 Supreme Court found that the EPA has a statutory authority to formulate standards and regulations to address GHG emissions, which it historically has not done. In April 2009, EPA released an Endangerment Finding that GHGs significantly contribute to air pollution, triggering the process under the Clean Air Act for potentially developing National Ambient Air Quality Standards for GHGs and establishing emissions standards for stationary and mobile sources. Federal Fuel Efficiency Standards In December 2007, President Bush signed the Energy Independence and Security Act of 2007 (Public Law 110-140, at 42 USC Section 7545(o) (2)). This energy bill increased the supply of alternative fuel sources by setting a mandatory Renewable Fuel Standard (RFS), requiring fuel producers to use at least 36 billion gallons of biofuel in 2022. It also tightened the Corporate Average Fuel Economy (CAFE) standards that regulate the average fuel economy in the vehicles produced by each major automaker, requiring that these standards be increased such that, by 2020, the new cars and light trucks sold each year deliver a combined fleet average of 35 miles per gallon. In mid-May 2009, President Barack Obama ordered vehicle makers to increase mileage standards to 35.5 miles per gallon by 2016, four years earlier than required by law. The nationwide fuel-economy standards would be phased in beginning in 2012. Rules were finalized in April 2010. Carmakers had wanted a national standard, saying that meeting a quilt of state standards would be too difficult. The EPA in June 2009 approved California's rules to regulate GHG emissions from cars and light trucks, putting the standards into effect immediately for much of the nation and reversing a Bush administration policy. California had urged the EPA to allow the state's rules to go into effect immediately, arguing that the lengthy federal rulemaking process would delay action that could begin immediately. California's rules apply beginning with the P3-22 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION sale of 2009 model year cars, and extend to much of the nation, since 13 other states and the District of Columbia have adopted the California standard. In 2012, companies may comply with the national standard in place of the state standard. State Regulations California Public Utilities Commission As a public utility that provides electricity and natural gas to the City, PG&E is under the jurisdiction of the CPUC. PG&E provides service in accordance within the policies and extensions rules on file with the CPUC. Senate Bill 1771 Sher (Chapter 1018, Statutes of 2000) SB 1771 requires the California Energy Commission (CEC) to prepare an inventory of the state’s GHG emissions, to study data on GHG, and to provide government agencies and businesses with information on the costs and methods for reducing GHG emissions. It also established the California Climate Action Registry to serve as a certifying agency for companies and local governments to quantify and register their GHG emissions for possible future trading systems. State of California Integrated Energy Policy (2002) The CEC adopts and transmits to the Governor and Legislature a report of findings biannually. The Legislature passed Senate Bill 1389 in 2002. The legislation reconstituted the state’s responsibility to develop an integrated energy plan for electricity, natural gas, and transportation fuels, known as the Energy Report. The CEC adopted the 2003 Integrated Energy Policy during a Special Business Meeting on November 12, 2003. The 2004 Update to the Integrated Energy Policy was adopted by the Energy Commission on November 3, 2004. The 2005 Integrated Energy Policy was adopted by the Energy Commission on November 21, 2005. The plan calls for the state to assist in the transformation of the transportation system to improve air quality, reduce congestion, and increase the efficient use of fuel supplies with the least environmental and energy costs. To further this policy, the plan identifies a number of strategies, including assistance to public agencies and fleet operators in implementing incentive programs for Zero Emission Vehicle and addressing their infrastructure needs, and encouragement of urban design that reduces vehicle miles traveled (VMT) and accommodates pedestrian and bicycle access. Assembly Bill 1493 (Chapter 200, Statutes of 2002) (Calif. Health & Safety Code Sections 42823 and 43018.5) Assembly Bill (AB) 1493 (Pavley) amended California Health & Safety Code sections 42823 and 43018.5 requiring the California Air Resources Board (ARB) to develop and adopt, by 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-23 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST January 1, 2005, regulations that achieve maximum feasible reduction of GHGs emitted by passenger vehicles, light-duty trucks, and other vehicles used for noncommercial personal transportation in California. The regulations apply to motor vehicles manufactured in 2009 or later model year. Pursuant to AB 1493, the ARB approved regulations to reduce GHG emissions from new motor vehicles in September 2004. Under the regulation, one manufacturer fleet average emission standard is established for passenger cars and the lightest trucks, and a separate manufacturer fleet average emission standard is established for heavier trucks. The regulation took effect on January 1, 2006 and set near-term emission standards, phased in from 2009 through 2012, and mid-term emission standards, phased in from 2013 through 2016 (referred to as the Pavley Phase 1 rules). The ARB intends to extend the existing requirements to obtain further reductions in the 2017 to 2020 timeframe (referred to as Pavley Phase 2 rules). The ARB has included both Pavley 1 and 2 rules in its Climate Change Scoping Plan (December 2008), pursuant to the Global Warming Solutions Act of 2006 (AB 32), which outlines the State’s strategy to achieve 2020 GHG emission reductions. After initially refusing to grant a waiver, on June 30, 2009 the EPA granted a waiver that allows California to implement these standards. The ARB calculates that in calendar year 2016, the Pavley Phase 1 rules will reduce California’s GHG emissions by 16.4 million metric tons of COe, and by 2020, Pavley Phase 2 2 will reduce emissions by 31.7 million metric tons of COe. Further, the AB 1493 new 2 vehicle requirements will cumulatively produce 45% more GHG reductions by 2020 compared to the federal CAFE standard in the Energy Independence and Security Act of 2007 (above). Without Pavley rules, both state and regional CO emissions will increase steadily between 2 now and 2035 as VMT increases with population growth; with Pavley rules, CO emissions 2 are projected to decrease between now and 2035. This decrease in regional 2035 CO 2 emissions compared to current levels is in large part a result of technological changes expected to reduce CO emissions per VMT. The regulations will reduce climate change 2 emissions from the light duty passenger vehicle fleet by 12.6% statewide and 22.9% in the Bay Area in the 2035 calendar year compared to 2006. Senate Bill 1078 Sher (Chapter 516, Statutes of 2002) The Sher bill established a Renewable Portfolio Standard (RPS) requiring electricity providers to increase purchases of renewable energy resources by 1% per year until they have attained a portfolio of 20% renewable resources by 2010. Executive Order S-20-04 (Gov. Schwarzenegger, July 2004) Executive Order S-20-04, signed on July 27, 2004, requires that the State commit to aggressive action to reduce state building electricity use, and more specifically, that State agencies, departments, and other entities take measures to reduce energy use by 20% by P3-24 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION 2015. In addition, the Order requires that the CEC increase energy efficiency standards by 20% by 2015, compared to the 2003 Titles 20 and 24 standards. Executive Order S-3-05 (Gov. Schwarzenegger, June 2005) Executive Order S-3-05, signed on June 1, 2005, recognizes California’s vulnerability to climate change, noting that increasing temperatures could potentially reduce snow pack in the Sierra Nevada, which is a primary source of the State’s water supply. Additionally, according to this Order, climate change could influence human health, coastal habitats, microclimates, and agricultural yield. The Order set the GHG reduction targets for California: by 2010, reduce GHG emissions to 2000 levels; by 2020 reduce GHG emissions to 1990 levels; by 2050 reduce GHG emissions to 80% below 1990 levels. Title 24 Building Energy Efficiency Standards (2005) Title 24 of the California Code of Regulations is the California Building Code, governing all aspects of building construction. Included in Part 6 of the Code are standards mandating energy efficiency measures in new construction. Since its establishment in 1977, the building efficiency standards (along with standards for energy efficiency in appliances) have contributed to a reduction in electricity and natural gas costs in California. The standards are updated every three years to allow new energy efficiency technologies to be considered. The latest update to Title 24 standards became effective on October 1, 2005. The standards regulate energy consumed in buildings for heating, cooling, ventilation, water heating, and lighting. Title 24 is implemented through the local plan check and permit process. California Global Warming Solutions Act of 2006 (AB 32) (Calif. Health & Safety Code Sections 38500 et seq.) In September 2006, Governor Arnold Schwarzenegger signed Assembly Bill (AB) 32, the California Global Warming Solutions Act (Health and Safety Code Section 38500 et. seq.). The Act requires the reduction of statewide GHG emissions to 1990 levels by the year 2020. This change, which is estimated to be a 30% reduction from business as usual emission levels projected for 2020, will be accomplished through an enforceable statewide cap on GHG emissions that will be phased in starting in 2012. The Act also directs the ARB to develop and implement regulations to reduce statewide GHG emissions from stationary sources and address GHG emissions from vehicles. The ARB has stated that the regulatory requirements for stationary sources will be first applied to electricity power generation and utilities, petrochemical refining, cement manufacturing, and industrial/commercial combustion. The second group of target industries will include oil and gas production/distribution, transportation, landfills, and other GHG-intensive industrial processes. The ARB developed a Climate Change Scoping Plan, finalized in December 2008, outlining the State’s strategy to achieve 2020 GHG emission limits (CARB, 2008). The Plan proposes a comprehensive set of measures designed to reduce overall GHG emissions. These measures, shown below in GHG EmissionsTable 3 by sector, also put the State on a path to meet the long-term 2050 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-25 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST goal of reducing California’s GHG emissions to 80 percent below 1990 levels. The measures will be developed over the next two years and be in place by 2012. GHG EMISSIONS TABLE 3 LIST OF RECOMMENDED MEASURES BY SECTOR GHG Reductions (Annual Million MeasureMetric Tons No.Measure Description COe) 2 Transportation T-1Pavley I and II – Light Duty Vehicle Greenhouse Gas 31.7 Standards T-2Low Carbon Fuel Standard (Discrete Early Action) 15 1 T-3Regional Transportation-Related Greenhouse Gas Targets 5 T-4Vehicle Efficiency Measures 4.5 T-5Ship Electrification at Ports (Discrete Early Action) 0.2 T-6Goods Movement Efficiency Measures. 3.5 Ship Electrification at Ports System-Wide Efficiency Improvements T-7Heavy-Duty Vehicle Greenhouse Gas Emission Reduction 0.93 Measure – Aerodynamic Efficiency (Discrete Early Action) T-8Medium- and Heavy-Duty Vehicle Hybridization 0.5 T-9High Speed Rail 1 Electricity and Natural Gas E-1Energy Efficiency (32,000 GWh of Reduced Demand) 15.2 Increased Utility Energy Efficiency Programs More Stringent Building & Appliance Standards Additional Efficiency and Conservation Programs E-2Increase Combined Heat and Power Use by 30,000 GWh (Net 6.7 reductions include avoided transmission line loss) E-3Renewables Portfolio Standard (33% by 2020) 21.3 E-4Million Solar Roofs (including California Solar Initiative, New 2.1 Solar Homes Partnership and solar programs of publicly owned utilities) Target of 3000 MW Total Installation by 2020 CR-1Energy Efficiency (800 Million Therms Reduced 4.3 Consumptions) Utility Energy Efficiency Programs Building and Appliance Standards Additional Efficiency and Conservation Programs CR-2Solar Water Heating (AB 1470 goal) 0.1 Green Buildings P3-26 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION GHG Reductions (Annual Million MeasureMetric Tons COe) No.Measure Description 2 GB-1Green Buildings 26 Water W-1Water Use Efficiency 1.4† W-2Water Recycling 0.3† W-3Water System Energy Efficiency 2.0† W-4Reuse Urban Runoff 0.2† W-5Increase Renewable Energy Production 0.9† W-6Public Goods Charge (Water) TBD† Industry I-1Energy Efficiency and Co-Benefits Audits for Large Industrial TBD Sources I-2Oil and Gas Extraction GHG Emission Reduction 0.2 I-3GHG Leak Reduction from Oil and Gas Transmission 0.9 I-4Refinery Flare Recovery Process Improvements 0.3 I-5Removal of Methane Exemption from Existing Refinery 0.01 Regulations Recycling and Water Management RW-1Landfill Methane Control (Discrete Early Action) 1 RW-2Additional Reductions in Landfill Methane TBD† Increase the Efficiency of Landfill Methane Capture RW-3High Recycling/Zero Water 9† Commercial Recycling Increase Production and Markets for Compost Anaerobic Digestion Extended Producer Responsibility Environmentally Preferable Purchasing Forests F-1Sustainable Forest Target 5 High Global Warming Potential (GWP) Gases H-1Motor Vehicle Air Conditioning Systems: Reduction of 0.26 Refrigerant Emissions from Non-Professional Services (Discrete Early Action) H-2SF Limits in Non-Utility and Non-Semiconductor Applications 0.3 6 (Discrete Early Action) H-3Reduction of Perfluorocarbons in Semiconductor 0.15 Manufacturing (Discrete Early Action) 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-27 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST GHG Reductions (Annual Million MeasureMetric Tons COe) No.Measure Description 2 H-4Limit High GWP Use in Consumer Products Discrete Early 0.25 Action (Adopted June 2008) H-5High GWP Reductions from Mobile Sources 3.3 Low GWP Refrigerants for New Motor Vehicle Air Conditioning Systems Air Conditioner Refrigerant Leak Test During Vehicle Smog Check Refrigerant Recovery from Decommissioned Refrigerated Shipping Containers Enforcement of Federal Ban on Refrigerant Release during Servicing or Dismantling of Motor Vehicle Air Conditioning Systems H-6High GWP Reductions from Stationary Sources 10.9 High GWP Stationary Equipment Refrigerant Management Program: Refrigerant Tracking/Reporting/Repair Deposit Program o Specifications for Commercial and Industrial o Refrigeration Systems Foam Recovery and Destruction Program SF Leak Reduction and Recycling in Electrical Applications Alternative Suppressants in Fire Protection Systems Residential Refrigeration Early Retirement Program H-7Mitigation Fee on High GWP Gases 5 Agriculture A-1Methane Capture at Large Dairies 1.0† 1 This is not the SB 375 regional target. CARB will establish regional targets for each of California’s 18 Metropolitan Planning Organizations (MPO’s) regions following the input of the regional targets advisory committee and a consultation process with MPO’s and other stakeholders per SB 375 † GHG emission reduction estimates are not included in calculating the total reductions needed to meet the 2020 target Senate Bill 1368 (Chapter 598, Statutes of 2006) (Calif. Public Utilities Code Sections 8340 et seq.) Senate Bill (SB) 1368 required the CPUC to establish a GHG emissions performance standard for “baseload” generation from investor-owned utilities by February 1, 2007. The CEC was required to establish a similar standard for local publicly-owned utilities by June 30, 2007. The legislation further required that all electricity provided to California, including imported electricity, must be generated from plants that meet or exceed the standards set by the CPUC and the CEC. In January 2007, the CPUC adopted an interim performance P3-28 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION standard for new long-term commitments (1,100 pounds of CO per megawatt-hour), and in 2 May 2007, the CEC approved regulations that match the CPUC standard. Executive Order S-01-07 (Gov. Schwarzenegger, January 2007) A Low-Carbon Fuel Standard was established by Executive Order S-01-07 in January 2007. The Order calls for a statewide goal to be established to reduce the carbon intensity of California’s transportation fuels by at least 10% by 2020 (“2020 Target”), and that a Low Carbon Fuel Standard (LCFS) for transportation fuels be established for California. Further, it directed the ARB to determine if an LCFS could be adopted as a discrete early action measure pursuant to AB 32, and if so, ARB was required to consider the adoption of a LCFS on the list of early action measures required to be identified by June 30, 2007, pursuant to Health and Safety Code Section 38560.5 (see GHG Emissions Table 3; Measure T-2). The LCFS applies to all refiners, blenders, producers or importers (“Providers”) of transportation fuels in California, and will be measured on a full fuels cycle basis, and may be met through market-based methods by which Providers exceeding the performance required by a LCFS shall receive credits that may be applied to future obligations if traded to Providers not meeting the LCFS. Senate Bill 97 (Chapter 185, Statutes of 2007) (Calif. Public Resources Code Sections 21083.5 and 21097) Senate Bill (SB) 97 directed the Office of Planning and Research (OPR) to prepare, develop, and transmit to the California Resources Agency guidelines for feasible mitigation of GHG emissions or the effects of GHG emissions, by July 1, 2009. The Resources Agency was required to certify and adopt amendments to the Guidelines implementing the CEQA Guidelines on or before January 1, 2010. OPR submitted recommended Amendments to the CEQA Guidelines for GHG emissions to the Natural Resources Agency on April 13, 2009 (OPR, 2010). On July 3, 2009, the Natural Resources Agency commenced the Administrative Procedure Act rulemaking process for certifying and adopting these amendments pursuant to Public Resources Code section 21083.05. The Natural Resources Agency transmitted the adopted Amendments and the entire rulemaking file to the Office of Administrative Law (OAL) on December 31, 2009. The Office of Administrative Law approved the Amendments, and filed them with the Secretary of State for inclusion in the California Code of Regulations on February 16, 2010. The Amendments became effective on March 18, 2010 (OPR, 2010). Senate Bill 375 (Chapter 728, Statutes of 2008) September 30, 2008, Governor Schwarzenegger signed Senate Bill (SB) 375 into law. SB375 links transportation and land use planning with the CEQA process to help achieve the GHG emission reduction targets set by AB 32. Regional transportation planning agencies are required to include a sustainable community strategy (SCS) in regional transportation plans. The SCS must contain a planned growth scenario that is integrated with the transportation network and policies in such a way that it is feasible to achieve AB 32 goals on a regional 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-29 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST level. SB 375 also identifies new CEQA exemptions and streamlining for projects that are consistent with the SCS and qualify as Transportation Priority Projects (TPP). TPPs must meet three requirements: 1) contain at least 50% residential use; commercial use must have floor area ratio (FAR) of not less than 0.75; 2) have a minimum net density of 20 units per acre; and 3) be located within one-half mile of a major transit stop or high quality transit corridor included in the regional transportation plan. Executive Order S-14-08 (Gov. Schwarzenegger, November 2008) Executive Order S-14-04, signed on November 17, 2008, mandates a RPS of 33% by 2020. Regional Coordination In the Bay Area, the Joint Policy Committee (JPC) coordinates the regional planning efforts of the Association of Bay Area Governments (ABAG), the BAAQMD, the San Francisco Bay Conservation and Development Commission (BCDC) and the Metropolitan Transportation Commission (MTC). The JPC commenced a six-month program to study the issue of climate change and to recommend an initial set of actions to be pursued jointly by the four regional agencies in the fall of 2006. The study recommends that the regional agencies build their Joint Climate Protection Strategy in service of this key goal: To be a model for California, the nation, and the world. The JPC then organizes initial actions by the following six strategy elements: establish priorities; increase public awareness and motivate action; provide assistance; reduce unnecessary driving; prepare to adapt; and break old habits. The region plans to invest $400 million towards a five-year Transportation Climate Action Campaign aimed at smart traveling and smart driving. The investment is an effort to reduce GHG emissions from the transportation sector as part of the proposed investments in the Transportation 2035 Plan. The action campaign, to be implemented by the four regional agencies, focuses on outreach/education, Safe Routes to Schools, Safe Routes to Transit, transit priority measures (TPMs) for local bus transit, and grants/incentive programs. City of South San Francisco Regulations The City of South San Francisco does not currently have any adopted policies or plans regarding the reduction of GHG emissions. The City participated in a training workshop held by BAAQMD and ICLEI on community GHG emission inventories in December 2007 to begin the process of conducting a government and community-wide GHG emissions baseline inventory. A 2005 Government Emissions Inventory was completed in 2009, and in January of 2011, the City Council accepted the 2005 baseline City-wide emissions inventory. Transportation Demand Management Ordinance (Chapter 20.120 of the Municipal Code) South San Francisco’s current Transportation Demand Management (TDM) Ordinance states that for non-residential sites generating more than 100 daily trips, a minimum of 28% of all P3-30 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION trips must be made through alternative mode use. For projects that seek a floor area ratio (FAR) bonus in accordance with the General Plan, 30% to 45% of all trips must be made through alternative mode use, depending on the type of development and requested FAR. This project does not trigger the TDM requirement, but the applicant will be implementing several trip reduction measures as part of their parking reduction application. I MPACTS a) Generation of Greenhouse Gas Emissions Significance Criteria:The BAAQMD CEQA Air Quality Guidelines identify a project specific threshold of either 1,100 metric tons of COe per year or 4.6 metric tons of COe per 22 year per service population (i.e., the number of residents plus the number of employees associated with a new development) as resulting in a cumulatively considerable contribution of GHG emissions and a cumulatively significant impact to GCC. Alternatively, a project that is found to be consistent with a Qualified Climate Action Plan would have a less than significant impact to global climate change. This analysis applies the 1,100 metric tons of COe per year significance criterion. 2 URBEMIS2007 and the BAAQMD GHG Model (Version 1.1.9) were used to quantify GHG emissions associated with project construction activities (for informational purposes), as well as long-term operations associated with natural gas space and water heating, electricity, landscape maintenance, and vehicles. Estimated construction GHG emissions that would be GHG Emissions Table 4 associated with the Project are presented in . As indicated, short- term annual construction related GHG emissions would be 182 metric tons. GHG Emissions Table 4 also provides the estimated operational GHG emissions that would The GHG impacts would be 112 metric tons per year, which be associated with the Project. is less than the BAAQMD threshold of 1,100 metric tons and thus, less than significant. 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-31 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST GHG EMISSIONS TABLE 4 PREFERRED PROJECT RELATED GREENHOUSE GAS EMISSIONS Emission Source GHG COe Metric Tons Per Year 2 Construction 182 Operations Area Sources 0.2 Electricity 24.5 Natural Gas 2.0 Water & Wastewater 0.3 Solid Waste 6.1 Motor Vehicles 78.4 Operations Total 112 BAAQMD Threshold 1,100 Significant?No Notes: Refer to Appendix A for all assumptions used as input to estimate emissions. b) Potential Conflicts with an Applicable Plan, Policy, or Regulation The City of South San Francisco currently does not have an applicable adopted plan, policy, or regulation regarding the reduction of GHG emissions. The City is currently in the process of establishing a baseline government and community-wide inventory of GHG emissions. The Project would result in a significant impact if it would be in conflict with AB 32 State goals for reducing GHG emissions. The assumption is that AB 32 will be successful in reducing GHG emissions and reducing the cumulative GHG emissions statewide by 2020. The State has taken these measures, because no project individually could have a major . Therefore, the impact (either positively or negatively) on the global concentration of GHG Project has been reviewed relative to the AB 32 measures and it has been determined that the Project would not conflict with the goals of AB 32. Finding: The Project would not result in an impact or contribute to a cumulative impact with respect to GHG emissions or GCC. P3-32 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION 3.4BR IOLOGICALESOURCES Environmental Factors and Focused Questions for PotentiallyLess Than Less Than Determination of Environmental Impact SignificantSignificantSignificantNo Impact with Impact Impact Mitigation IV.BIOLOGICAL RESOURCES — Would the Project: a) Have a substantial adverse effect, either x directly or through habitat modifications, on any species identified as a candidate, sensitive, or special status species in local or regional plans, policies, or regulations, or by the California Department of Fish and Game or U.S. Fish and Wildlife Service? b) Have a substantial adverse effect on any x riparian habitat or other sensitive natural community identified in local or regional plans, policies, regulations or by the California Department of Fish and Game or US Fish and Wildlife Service? c) Have a substantial adverse effect on x federally protected wetlands as defined by Section 404 of the Clean Water Act (including, but not limited to, marsh, vernal pool, coastal, etc.) through direct removal, filling, hydrological interruption, or other means? d) Interfere substantially with the movement x of any native resident or migratory fish or wildlife species or with established native resident or migratory wildlife corridors, or impede the use of native wildlife nursery sites? e) Conflict with any local policies or x ordinances protecting biological resources, such as a tree preservation policy or ordinance? f) Conflict with the provisions of an adopted x Habitat Conservation Plan, Natural Community Conservation Plan, or other approved local, regional, or state habitat conservation plan? S/B ETTINGACKGROUND The Project site has been developed since the early 1950’s. The Project site is surrounded by single family residential development to the north and east, upslope from the Project. Heavy commercial and or light industrial land uses flank the Project’s eastern property line. Mixed- use residential, commercial and school uses are across Hillside Boulevard from the Project. The Project is in an area that has been developed since the 1950’s. 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-33 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST REGULATORY FRAMEWORK South San Francisco Municipal Code Section 13.30.020 Protected Tree Ordinance South San Francisco Municipal Code Section 13.30.020 defines a “Protected Tree” as one with a circumference of 48” or more measures 54” above natural grade; a tree or stand of trees designated by the Director of Parks and Recreation as one of uniqueness, importance to the public due to its location or unusual appearance, historical significance or other factor; or a stand of trees that the Director of Parks and Recreation has determined each tree is dependant on the others for survival. South San Francisco General Plan Open Space and Conservation Element-Habitat and Biological Resources Conservation Figure 7-1, General Plan Policies for Sensitive Biological Resources (page 225), identifies areas within the City that habitat and resource conservation policies shall apply. Figure 7-2, Special Environmental Studies Required for Development Proposals, (page 227) identifies areas that require additional biological and geotechnical engineering studies prior to entitlement review. State of California California Department of Fish and Game Nesting birds are protected by the California Department of Fish and Game Code Section 3503, which reads, “It is unlawful to take, possess, or needlessly destroy the nest or eggs of any bird, except as otherwise provided by this code or any regulation made pursuant thereto.” Federal Migratory Bird Treaty Act (MBTA: 16 U.S.C., Section 703-71) There are over 900 species of birds protected by the MBTA. The MBTA prohibits killing, possessing, or trading in migratory birds, except in accordance with regulations prescribed by the Secretary of the Interior. This Act encompasses whole birds, parts of birds, and bird nests and eggs. Construction activities during the breeding season could result in the incidental loss of fertile eggs or nestlings or nest abandonment. The MBTA is typically enforced by the California Department Fish and Game. A standard requirement is to either conduct tree and building removal during the non-nesting season which in San Mateo County is September 1- January 31 or conduct a nesting survey within five days prior to tree removal and should nests be found they are required to be protected in place until the birds have fledged. Protection of the nests would require leaving the tree in place and based upon the type of bird species identified by the biological study, various setbacks during project construction (including grading and tree removal) would be required until the birds have fledged. P3-34 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION I MPACTS a-d) Habitat Significance Criteria: The Project would have a significant impact if it were to substantially impact habitat, wetlands, migratory corridors and Waters of the United States as identified in 3.4 a-d, above. Suitable habitat requires the presence of vegetation for cover and food and a source of water. Suitable wildlife habitat is located approximately 0.25 miles north of the Project in San Bruno Mountain. The Project site itself is void of vegetation, such as large trees, and water suitable for wildlife habitat. The proximity of suitable habitat, San Bruno Mountain approximately 0.25 miles north of the site, further renders the habitat value of the Project site as insignificant. no impacton any endangered, threatened or rare species or their The Project would have habitats, or to any federally protected wetlands or wildlife corridors . e) and f) Local Policies and Ordinances and Habitat Conservation Plans Significance Criteria: The Project would have a significant environmental impact if it were to conflict with any local policies or ordinances protecting biological resources, such as a tree preservation policy or ordinance, Habitat Conservation Plan, Natural Community Conservation Plan, or other approved local, regional, or state habitat conservation plan. There are no Protected Trees on the site. The Project site is not identified in General Plan Figures 7-1, General Plan Policies for Sensitive Biological Resources and 7-2 Special Environmental Studies Required for Development Proposals. No Habitat or Conservation Plan governs the site, as the site does not contain habitat. The Project is not located on no impacton General Plan policies or ecologically sensitive lands and would have ordinances protecting biological resources . Finding: The Project would not result in a significant impact or significant unavoidable impact to biological resources individually or cumulatively. The Project is not located on ecologically sensitive lands, does not contain habitat and would have no impact on General Plan policies or ordinances protecting biological resources. 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-35 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST 3.5 CR ULTURAL ESOURCES Environmental Factors and Focused Questions for PotentiallyLess Than Less Than Determination of Environmental Impact SignificantSignificantSignificantNo Impact with Impact Impact Mitigation V.CULTURAL RESOURCES — Would the Project: a) Cause a substantial adverse change in the x significance of a historical resource as defined in §15064.5? b) Cause a substantial adverse change in the x significance of an archaeological resource pursuant to §15064.5? c) Directly or indirectly destroy a unique x paleontological resource or site or unique geologic feature? d) Disturb any human remains, including x those interred outside of formal cemeteries? S/B ETTINGACKGROUND The Project is located approximately 2/3rds of a mile west of San Francisco Bay and approximately 0.25 of a mile from the southern edge of San Bruno Mountain. The Project geotechnical report (Geotechnical Investigation, Cornerstone Earth Group, May 28, 2010) notes that site soils are comprised of two to six feet of clayey sand (artificial fill) over sandstone and shale bedrock of the Franciscan Complex. As noted in previous sections, the Project site was graded and developed in the early 1950’s. Native Americans, over 5,000 years ago, typically settled along creek banks and the margins of San Francisco Bay. The South San Francisco General Plan (page 242) identifies three cultural resources within its jurisdiction. Two sites are located on San Bruno Mountain located within a parcel deed restricted as open space in perpetuity at the northern edge of South San Francisco within the legal jurisdiction of San Mateo County. The other site is along Colma Creek within the City’s El Camino Corridor planning area. The three sites are not within the vicinity of the Project site. I MPACTS a) Historic Resources Significance Criteria: The Project would have a significant environmental impact if it were to cause a substantial adverse change in the significance of a historical resource as defined in §15064.5. P3-36 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION The Project site or buildings contained therein are not identified on Figure 7-3 Designated Historic Resources in the City’s General Plan (page 241). There are no historical resources no impact on historic resources or structures on the Project site. The Project would have . b - d) Archaeological Resources Significance Criteria: The Project would have a significant environmental impact if it were to cause a substantial adverse change in the significance of an archaeological resource as defined in §15064.5, directly or indirectly destroy a unique paleontological resource or unique geologic feature, or disturb any human remains, including those interred outside formal cemeteries. State law requires that in the event human remains or evidence Native American habitation are uncovered during Project activities is discovered for all construction activity to cease. Depending upon the findings, a coroner and/or archaeologist is required to inspect the site. Project work that would not impact the findings may continue under supervision of an archaeologist. A removal or preservation plan is required to address the find. The San Francisco General Plan acknowledges the importance of encouraging municipal and community awareness and appreciation of historic and cultural resources (Guiding Policies 7.5-G-1 and 2). The policies also speak to conservation of cultural and historic resources. The site is not known or suspected to contain cultural resources as noted on page 242 of the General Plan. Moreover, soil borings conducted since in 2010 (Cornerstone, 2010) did not uncover shell bits associated with previous habitation associated with Native Americans. The soil is composed of clayey sand (artificial fill) over sandstone and shale bedrock of the no impact on archaeological resources Franciscan Complex. The Project would have The Project is located on a previously graded parcel and in a developed area. Finding: There are no known historic, archaeological or paleontological resources or human remains located on the Project site. Moreover soil borings taken from the Project do not show evidence of soils associated with archaeological resources, such as shell bits. The Project would have no impacton cultural resources. 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-37 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST 3.6GS EOLOGY AND OILS Environmental Factors and Focused Questions for PotentiallyLess Than Less Than Determination of Environmental Impact SignificantSignificantSignificantNo Impact with Impact Impact Mitigation VI. GEOLOGY AND SOILS — Would the Project: a) Expose people or structures to potential substantial adverse effects, including the risk of loss, injury, or death involving: i) Rupture of a known earthquake fault, as x delineated on the most recent Alquist-Priolo Earthquake Fault Zoning Map issued by the State Geologist for the area or based on other substantial evidence of a known fault? Refer to Division of Mines and Geology Special Publication 42. ii) Strong seismic ground shaking? x iii) Seismic-related ground failure, including x liquefaction? iv) Landslides? x b) Result in substantial soil erosion or the loss x of topsoil? c) Be located on a geologic unit or soil that is x unstable, or that would become unstable as a result of the Project, and potentially result in on- or off-site landslide, lateral spreading, subsidence, liquefaction or collapse? d) Be located on expansive soil, as defined in x Table 18-1-B of the Uniform Building Code (1994), creating substantial risks to life or property? e) Have soils incapable of adequately x supporting the use of septic tanks or alternative waste water disposal systems where sewers are not available for the disposal of waste water? S/B ETTINGACKGROUND Geotechnical investigation was submitted as part of the Project: Geotechnical Investigation Gimbals Building Expansion 250 Hillside Boulevard, South San Francisco, California, Cornerstone Earth Group, May 28, 2010); and, P3-38 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION Geotechnical Investigation Gimbals Building Expansion 250 Hillside Boulevard, South San Francisco, California, Cornerstone Earth Group, April 9, 2011. The geotechnical reports were peer reviewed by Cotton Shires, Associates, Inc, the City’s consulting geologists. Geotechnical Peer Review Gimbals Building Expansion 250 Hillside Boulevard, Cotton Shires Associates, March 14, 2011; and, Geotechnical Peer Review Gimbals Building Expansion 250 Hillside Boulevard, Cotton Shires Associates, April 22, 2011. The evaluation contained in this section summarizes the findings of the reports as modified or confirmed by Cotton Shires. Site History and Conditions Review of aerial photographs indicates that the Project site and surrounding area were undeveloped in 1943, with the exception of Hillside Boulevard and Linden Avenue. The area of the site encompassed the lower part of a southwest facing, moderately sloping hillside. The main building appears in photographs taken in 1953, but without any parking areas. Creating the building pad required substantial cuts into the hillside. The 1968 aerial photographs indicate additional grading had occurred on the slope, northeast and upslope from the site, and severe erosion was apparent on the cut slope on the northeast property line. The 1974 photographs indicate that extensive grading had occurred on the parcel northeast of the Project site which resulted in further erosion. Today the Project site is located at the base of a moderate to steep southwest and southeast facing hillside, just east of the intersection of Hillside Boulevard and North Spruce Avenue. The existing building area is on a relatively flat portion of the site. A gentle slope of two to three feet in height is located along the southeastern site of the proposed 8,800 square foot addition. Cut slopes facing to the south and southwest, beyond building area are steep ranging in inclination from 55 to 60 percent. A shallow landslide (i.e., slough), less than five feet in depth is located on the cut slope. The Project is located where slope debris (Qsr, Cornerstone, 2010) has been geologically deposited over bedrock of the Franciscan Complex. These Qsr deposits consist of alluvium/colluvium that occur in areas primarily adjacent to bedrock exposures, at the base of slopes, and in accumulations in swales and gullies. These deposits are primarily clay to sandy clay, sandy silt, clayey to silty sand, clean sand and silty gravel. These types of deposits are generally defined as “unstratified or poorly stratified stoney to clayey sand with local variations to silty or clayey sand or gravel. Slope debris overlays “sheared rocks” (KJu) of the Franciscan Complex. The sheared rock is small to large fragments of hard rock in a matrix of sheared rock derived mostly from shale and sandstone of Franciscan Complex. The sheared rock is generally coherent and firm but soft in places where weathered. 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-39 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST Cornerstone performed four exploratory borings on the site on April 29, and May 3, 2010. The borings went to depths ranging from three to 23.7 feet below ground surface (bgs). An engineering geologist conducted site reconnaissance to map the aerial extent of geologic deposits and obtain other details regarding site conditions and potential hazards. Cornerstone’s reconnaissance revealed the sheared rock on the site is predominately sandstone and exposed over much of the site. The exposed sandstone is hard and fractured, with close spacing, and is massive and cemented. The colluvium increases over the site from northeast to southwest. A layer of undocumented fill overlies the colluvium and bedrock on most portions of the site, save the slope located near the northeast property line above the area proposed for the building expansion. Groundwater was not encountered in site borings up to 23.7 feet bgs. Cornerstone notes that the site is in an area where historic high groundwater has not been determined (May 28, 2010, page 5). Localized water seepage in the slope above the driveway was noted during site visits and is likely attributed to a leaking irrigation or water line. The San Andreas and San Gregorio faults lay approximately 3.5 and eight miles, respectively, west of the site. The Hayward fault is approximately 15 miles east of the site. The Calavaras fault is approximately 24 miles east of the site. The inactive Hillside fault is th approximately 1/8 of a mile north of the site. Cotton Shires notes the site is constrained by undocumented fill, variable depths to bedrock, potential shallow sloughing of steep slopes near the proposed addition and anticipated seismic groundshaking (March 14, 2011). Cornerstone notes (and provides design mitigations for) localized slumping and raveling on slopes; ground water seepage, undocumented fill, potential difficult excavation and building setbacks from the base of the slope. I MPACTS Seismic Hazards Seismic hazards are generally classified as two types, primary and secondary. Primary geologic hazards include surface fault rupture. Secondary geologic hazards include ground shaking, liquefaction, dynamic densification and seismically induced ground failure. i) Surface Fault Rupture Significance Criteria:The Project would have a significant environmental impact if it were to expose people or structures to potential substantial adverse effects associated with the surface rupture of a known earthquake fault. This type of an impact is associated with development atop or within 100 feet (i.e., 50 feet on either side) of a known active fault. The enabling legislation known as Alquist Priolo Special Studies Zones was adopted by the California Legislature in 1972, has been amended over the years and is commonly referred to as “earthquake zones”. The legislation requires the California Division of Mines and P3-40 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION Geology to map known earthquake faults and fault traces and most development is now prohibited in these zones. The site is not underlain by an active earthquake fault and as such would not be affected by surface rupture. The San Andreas and San Gregorio faults lay approximately 3.5 and eight miles, respectively, west of the site. The Hayward fault is approximately 15 miles east of the lessthan site. The Calavaras fault is approximately 25 miles east of the site. There would be significant impactassociated with ground rupture . ii) Strong Seismic Ground Shaking Significance Criteria:The Project would have a significant environmental impact if it were to expose people or structures to potential substantial adverse effects associated with strong seismic ground shaking. Given that there are no active faults within the Project site, damage from a seismic event is most likely to occur from the secondary impact of strong seismic ground shaking originating on a nearby fault. Estimates of actual ground shaking intensity at a particular location are made according to the Modified Mercalli Intensity Scale, which accounts for variables such as the size and distance from the earthquake. It is reasonable to assume that an earthquake with a magnitude similar to that of the Loma Prieta, 7.1, would occur during the lifetime of the Project. USGS identifies the site and Project area as bordering on both Soil Type C and D. Soil Type C exhibits moderate ground amplification during a seismic event. Soil types A and B less ground amplification during a seismic event and types D and E exhibit more amplification with Soil Type E exhibiting the strongest ground amplification. Additional development on the Project would slightly increase the size of structures and number of people potentially exposed to hazards associated with a major earthquake in the region. The Project and all buildings in the San Francisco Bay Area are built with the knowledge that an earthquake could occur, and are required to meet California Building Code (CBC) standards for seismic safety. The geotechnical report (Cornerstone, May 28, 2010) contains design criteria based upon the 2007 CBC. The Project as a matter of law would be required to conform to and implement the 2010 CBC requirements. The 2010 CBC contains considerable seismic design updates from previous years. The Project is required by law to conform to the 2010 CBC and this seismic ground-shaking is reduced to a level ofless than would ensure that the impact of significant . iii) Liquefaction Significance Criteria:The Project would have a significant environmental impact if it were to expose people or structures to potential substantial adverse effects associated with seismic- related ground failure, including liquefaction. 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-41 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST Liquefaction is a secondary seismic hazard involving saturated cohesionless sand and silty sand sediments located close to the ground surface. Liquefaction occurs when the strength of a soil decreases and pore pressure increases as a response to strong seismic shaking and cyclic loading. During the loss of strength, the soil becomes mobile, and can move both horizontally and vertically, if not confined. Soils most susceptible to liquefaction are loose, clean, non-cohesive, uniformly-graded, fine-grained sands that are saturated and bedded with poor drainage. These soils are often, but not exclusively, located along the bay and ocean margins and in areas of artificial fill. The Project site is not currently mapped by the State of California with respect to liquefaction potential. The Association of Bay Area Governments mapping identifies the site as having a very low liquefaction potential.Cornerstone (May, 2010) screened the site for liquefaction potential. Cornerstone found the site contains medium dense to dense granular soils underlain by shallow bedrock. Groundwater was not found within the bedrock (up to 23.7 feet). Cornerstone concludes the site exhibits a very low potential for liquefaction, and less Cotton Shires (March, 2011) concurs with this assessment. The Project would have a than significant impact with respect to liquefaction of subsurface materials . iv) Landslides Significance Criteria: A landslide is a mass of rock, soil and debris displaced down slope by sliding, flowing or falling. The Project would have a significant environmental impact if it were to expose people or structures to substantial hazards from landslides; a landslide with potential volume or velocity to destroy property or endanger life. Cornerstone (May, 2010) notes that the state has not finished mapping landslide hazards in the San Francisco South Quadrangle where the Project is located. The preparer of this document reviewed websites and concurs with this conclusion. Bonilla (1971 Preliminary Geologic Map of the San Francisco South 7.5-minute Quadrangle and part of the Hunters Point 7.5-minute Quadrangle, California: U.S. Geological Survey Miscellaneous Field Studies Map MF-311, 2 sheets, scale 1:24,000 and 1998, Preliminary Geologic Map of the San Francisco South 7.5-minute Quadrangle and part of the Hunters Point 7.5-minute Quadrangle, San Francisco Bay Area, California: A Digital Database: U.S. Geological Survey Open-File Report 98-354, scale 1:24,000) shows two small slumps located in the moderately inclined slope just southeast of the Project. Bonilla does not show any landslides in areas that potentially impact the Project. Cornerstone (May, 2010) concurs with this finding as does Cotton Shires (March, 2011). Cornerstone does note small scale sloughing on the fill slope near the northwest property line. Cornerstone also notes the presence of a few small scale arcuate scarps in the same area. One of these features was investigated by Cornerstone and was found to contain very moist conditions. The proposed retaining wall would remove some of the sloughing, but not all of the material. Cornerstone recommends total removal of the sloughing material and replacement with rock slope facing (May, 2010, page 15). There is no threat of a major landslide on the site but there is minor sloughing on the northwest slope. The Project would P3-42 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION less than significant impact with respect to major landslides. There is localized have sloughing on the site and included as part of the Project design are measures to mitigate the sloughing. These measures are required to be implemented as a matter of law. b) Erosion or Loss of Topsoil Significance Criteria:The Project would result in a significant environmental impact if it were to result in substantial soil erosion or in the loss of topsoil. Cornerstone (May, 2010, page 15) recommends permanent erosion control measures for the slopes around the Project. These measures include hydroseeding slopes, landscape ground cover, jute netting, straw matting or erosion control blankets. These measures are required by law as the geotechnical report and City’s peer review are required to be incorporated into the Project. Cornerstone (page 15, May 2010) notes seepage from the slope above the driveway entrance. Cornerstone notes that the source is unknown and could be a leaking water or irrigation pipe or a naturally occurring spring. Cornerstone concludes that the seepage is a maintenance issue, not a hazard. Cornerstone recommends checking the pipes for leaks and if no leaks are found to install a subdrain to control the water. A design detail for a subdrain is included in the geotechnical report. Peer review of the plans indicates that the building addition would be one foot from the eastern property line. The Project as designed would require a spread footing that would be six inches from the eastern property line and would not require grading over the property line (Cotton Shires, e-mail April 14, 2011 and memorandum April 22, 2011). The Project would have very little potential to increase erosion during construction and post construction. In addition to the requirements of the geotechnical report, the Project is subject to the NPDES C-3 erosion control requirements which would be implemented during and Chapter 1, Section 1.2.4Section 3.8: Hydrology and Water Quality post construction. and , erosion control measures are required as a matter describes these measures in detail. The of law and as a result this impact is considered to be less than significant. c) Geologic Instability and d) Expansive Soils Significance Criteria: The Project would have a significant environmental impact if located on a geologic unit or soil that is unstable, or that would become unstable as a result of the Project, and potentially result in on- or off-site landslide, lateral spreading, subsidence, liquefaction or collapse; and if located on expansive soil, creating substantial risks to life or property. Expansive Soils: Cornerstone (May, 2010) performed a Plasticity Index (PI) on site soils. A PI test is used to determine the plasticity, or expansion potential of soils. The PI test indicates a value of 7, a very low expansion potential. 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-43 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST Differential Settlement: Differential settlement typically can occur if a project is built upon loose unsaturated soils or across two vastly different soil types. Foundation design can mitigate the impacts of differential settlement. Project soils are dense and consolidated (Cornerstone, May 28, 2010). The potential for differential settlement on the Project site is th 1/8 of an inch over 30 feet (Cornerstone, April 9, 2011 and Cotton Shires, April 22, 2011) which is considered less than significant. Lateral Spreading: Lateral spreading is the horizontal or lateral ground movement of relatively flat-laying soil deposits towards a “free face” which is an area of excavation, a channel, or open body of water.Lateral spreading is typically associated with liquefaction of one or more surface layers near the bottom of an exposed slope. There are no open faces within 200 feet of the Project where lateral spreading could occur a. (Cornerstone, 2010. Moreover the liquefaction potential of the site is very low as noted in iii , above. Cornerstone concludes the site exhibits a very low potential for liquefaction and lateral spreading and Cotton Shires (March, 2011) concurs with this assessment. Therefore the potential for lateral spreading is very low. Setting/Background Sectiona b, above Available data, identified in the and in and, indicate that the site is relatively stable. Soil borings indicate the site soils are very low in plasticity and as such do not introduce the potential for substantial risks to life or property. The Project less than significantimpactwith respect to a geologic unit becoming would result in a unstable and the Project would not result in the potential for on- or off-site landslide, lateral spreading, subsidence, liquefaction, differential settlement or collapse. The Project would less than significant impact with respect to expansive soils. have a e) Capability of Soils to Support Septic Tanks Significance Criteria: The Project would have a significant environmental impact if it involved construction of septic systems in soils incapable of adequately supporting the use of septic tanks or alternative wastewater disposal systems. The Project does not propose to build any new septic tank or alternate waste disposal systems. The Project site is and will continue to be connected to the City’s sanitary sewer system as a requirement of general engineering conditions of approval. Therefore, the Project no impacton soils due to septic systems would have . Finding: The Project site is not underlain by an earthquake fault and as such the potential for ground rupture is very low. Conformance with the 2010 California Building Code would reduce seismic shaking impacts to less than significant. The site soils are low in plasticity. Ground acceleration is in the mid-range (Type C/D soils, USGS). Site soils are considered low impact with respect liquefaction. Subsidence would be considered negligible. The Project would not be connected to a septic system and as such would not contribute to ground failure. There is no threat of a major landslide on the site but there is minor sloughing on the northwest slope. Based on the analysis, the Project would have a less than significant impact with respect to Geology and Soils. P3-44 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION 3.7HHM AZARDS AND AZARDOUS ATERIALS Environmental Factors and Focused Questions for PotentiallyLess Than Less Than Determination of Environmental Impact SignificantSignificantSignificantNo Impact with Impact Impact Mitigation VII. HAZARDS AND HAZARDOUS MATERIALS — Would the Project: a) Create a significant hazard to the public or x the environment through the routine transport, use, or disposal of hazardous materials? b) Create a significant hazard to the public or x the environment through reasonably foreseeable upset and accident conditions involving the release of hazardous materials into the environment? c) Emit hazardous emissions or handle x hazardous or acutely hazardous materials, substances, or waste within one-quarter mile of an existing or proposed school? d) Be located on a site which is included on a x list of hazardous materials sites compiled pursuant to Government Code Section 65962.5 and, as a result, would it create a significant hazard to the public or the environment? e) For a Project located within an airport land x use plan or, where such a plan has not been adopted, within two miles of a public airport or public use airport, would the Project result in a safety hazard for people residing or working in the Project area? f) For a Project within the vicinity of a x private airstrip, would the Project result in a safety hazard for people residing or working in the Project area? g) Impair implementation of or physically x interfere with an adopted emergency response plan or emergency evacuation plan? h) Expose people or structures to a significant x risk of loss, injury or death involving wildland fires, including where wildlands are adjacent to urbanized areas or where residences are intermixed with wildlands? 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-45 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST S/B ETTINGACKGROUND The Project site has been developed since the early1950’s with the Gimbal’s candy use. INTRODUCTION The term “hazardous materials”, for the purposes of this analysis, refers to both hazardous materials and hazardous wastes. Under federal and State laws, any material, including wastes, may be considered hazardous if it is specifically listed by statute as such or if it is toxic (causes adverse human health effects), ignitable (has the ability to burn), corrosive (causes severe burns or damage to materials), or reactive (causes explosions or generates toxic gases). The term “hazardous material” is defined as any material that, because of quantity, concentration, or physical or chemical characteristics, poses a significant present or potential hazard to human health and safety or to the environment if released into the State of California, Health and Safety Code, Chapter 6.95, workplace or the environment ( Section 25501(o). Hazardous materials, including but not limited to pesticides and herbicides, heavy metals, volatile organic compounds, oil and gas, may be present in soil and groundwater in areas where land uses have resulted in leaking fuel or chemical storage tanks or other releases of hazardous materials have occurred. Land uses that typically involve the handling of hazardous materials include commercial or industrial operations, as well as agricultural areas where soils may contain pesticides and herbicides. REGULATORY FRAMEWORK Various federal, State, and local regulatory agencies maintain lists of hazardous materials sites where soil and/or groundwater contamination is known or suspected to have occurred, typically as a result of leaking storage tanks or other spills. These facilities are readily identified through regulatory agency database searches, such as the State Water Resources Control Board (SWRCB) GeoTracker online database, the California Environmental Protection Agency (CalEPA), Department of Toxic Substances Control (DTSC) Envirostor online database, and several other federal, State and local regulatory agency databases. There are numerous federal, State, and local laws, regulations, ordinances and guidance intended to protect public health and safety and the environment. The U.S. Environmental Protection Agency (U.S. EPA), CalEPA, DTSC, RWQCB, California Air Resources Board (CARB), federal and California Occupational Safety and Health Administration (OSHA), California Department of Resources Recycling and Recovery (CalRecycle), CAL FIRE and the local oversight agencies are the major federal, State, and regional agencies that enforce these regulations. The main focus of OSHA is to prevent work-related injuries and illnesses, including from exposures to hazardous materials. CalRecycle is mandated to reduce waste, promote the management of materials to their highest and best use, and protect public health and safety and the environment (CalRecycle, 2010). CAL FIRE implements fire safety regulations. In accordance with Chapter 6.11 of the California Health and Safety Code (§ 25404, P3-46 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION et seq.), local regulatory agencies enforce many federal and state regulatory programs through the Certified Unified Program Agency (CUPA) program, including: Hazardous materials business plans (Chapter 6.95 of the Health and Safety Code, §25501 et seq.). State Uniform Fire Code requirements (§80.103 of the Uniform Fire Code as adopted by the state fire marshal pursuant to Health and Safety Code §13143.9). Underground storage tanks (Chapter 6.7 of the Health and Safety Code, §25280 et seq.). Aboveground storage tanks (Health and Safety Code §25270.5[c]). Hazardous waste generator requirements (Chapter 6.5 of the Health and Safety Code, §25100 et seq.). I MPACTS a) and b) Hazardous Materials Significance Criteria: The Project would have a significant environmental impact if it were to create a significant hazard to the public or the environment through the routine transport, use, or disposal of hazardous materials or if it were to create a significant hazard to the public or the environment through reasonably foreseeable upset and accident conditions involving the release of hazardous materials into the environment. The Project predominately involves the manufacturing of candy; an activity not associated with the storage or use of hazardous materials or hazardous chemicals to the extent that, as an example, car or tool manufacturing does. Some maintenance activity does occur on the site and is discussed in the following paragraph. There are truck deliveries to and from the site that bring in food products for manufacturing and to transport the finished product to the Shaw Road distribution facility. Any risk of upset due to routine transport of materials would be of a food nature and not toxic, save for any spills associated with motor fuel. Risks associated with vehicular transport would be similar to existing conditions on the Project site and in the neighborhood should an accident involving motor vehicles occur. These risks are minor; none have been reported in the area. A Phase I Environmental Site Assessment (Phase I) was conducted (Phase I Environmental Site Assessment, Cornerstone Earth Group, April 5, 2011). The Phase I was conducted pursuant to “Standard Practice for Environmental Site Assessments: Phase I Environmental Site Assessment Process” (ASTM Standard). The ASTM Standard is in compliance with the Environmental Protection Agency rule titled, “Standards and Practices for All Appropriate Enquiries; Final Rule.” The Phase I notes that the maintenance area, a separate area from the manufacturing area, does contain paints, lubricants, adhesives and caulk stored in a metal cabinet. The products are contained in their retail packaging and not in quantities larger than a quart. Water treatment chemicals to prevent corrosion in the on-site boiler are also present. There was no evidence of spills or leaks. The Phase I notes that a 1,000 gallon gasoline underground storage tank is located on the site was closed in compliance with San Mateo County Department of Environmental Health (SMCDEH) oversight. SMCDEH performed 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-47 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST borings in 1986 to detect if any leaks or spills from the tank occurred. No spills or leaks were recorded and no diesel or gasoline hydrocarbons were detected in the soil. SMCDEH issued a letter in 2007 stating the tank was closed in place and no further action is required. A Hazardous Materials Management Plan for the site is on file with SMCDEH. SMCDEH has permitted and does regulate the site. The Plan notes the presence of a 55-gallon drum of waste oil, up to 65 gallons of polishing glazes containing ethyl alcohol and compressed gases (oxygen, acetylene, argon and propane) on the site. A permit to store less than 219 gallons of hazardous materials and generate less than 27 gallons of hazardous wastes per year is also on file with SMCDEH. SMCDEH notes no violations of permitting or spills on the site. South San Francisco Fire Department records note no violations or spills. The South San Francisco Fire Department did not identify any concerns with respect to the Project during internal review. Moreover, the South San Francisco Fire Department conducts routine inspections of all commercial and industrial land use activities within the city for compliance with fire codes which include proper hazardous materials handling and disposal. impact of the Project with regards to hazardous materials transport or spill would be The less than significant . c) Hazardous Activities within ¼ mile of a School Significance Criteria:The Project would have a significant environmental impact if it were to emit hazardous emissions or handle hazardous or acutely hazardous materials, substances, or waste within a quarter mile of an existing or proposed school. The Martin Elementary School and the Girls and Boys Club are located west of the site across Hillside Boulevard and North Spruce Avenue. Martin Elementary School is located approximately 500 feet to the west of the Project. The Project involves the manufacturing of candy; an activity not associated with materials or hazardous chemicals. The Project would less than significant impactwith regards to the presence or release of hazardous have a materials or waste within a quarter mile of a school . d) Hazardous Materials Presence Significance CriteriaThe Project would have a significant environmental impact if it was : located on a site which is included on a list of hazardous materials sites compiled pursuant to Government Code Section 65962.5 (“Cortese List”) and clean pursuant to regulatory permitting and oversight is not in progress. noimpact from the The Project is not located on a hazardous material site would have a emission or handling of hazardous materials or wastes or from any environmental contamination posed by sites listed on the Cortese List . P3-48 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION e) and f) Safety Hazards Due to Nearby Airport or Airstrip Significance Criteria:The Project would have a significant environmental impact if it were located within an airport land use plan and not in conformance with the plan’s development and use standards (or, where such a plan has not been adopted, within two miles of a public airport or public use airport), if it would result in a safety hazard for people residing or working in the Project area; or if it were located within the vicinity of a private airstrip, if it would result in a safety hazard for people residing or working in the Project area. The Project site is not located within two miles of a private airstrip. The Project site is located approximately two miles north of San Francisco International Airport, and within the San Mateo County Airport Land Use Commission’s (ALUC) jurisdiction. The maximum permitted height in the Project area is 50 feet (Special Area Height Limitations, Figure 2-3, General Plan, page 35). The height limitation is related to the airport height limitations pursuant to the ALUC oversight. The ALUC height limitation is based upon safety factors. The existing height of the Project is 20 feet at the top of parapet and approximately 27 feet at the top of roof, and the proposed height of the addition is 30 feet. The Project would be 14 feet below the height established by the ALUC as requisite to protect public safety and would not result in a safety hazard for people working at the Project no impactwith respect to safety hazards or height limitations site. The Project would have due to a nearby airport. g) Conflict with Emergency Response Plan or Emergency Evacuation Plan Significance Criteria:The Project would have a significant environmental impact if it were to impair implementation of, or physically interfere with, an adopted emergency response plan or emergency evacuation plan. There are no emergency response or evacuation plans in effect in the Project vicinity. The Project has been reviewed by Police and Fire representatives of the City and provides no impacton the adequate access and circulation area. The proposed Project would have implementation of any adopted emergency response plan or emergency evacuation plan . h) Exposure of People or Structures to Wildland Fires Significance Criteria:The Project would have a significant environmental impact if it were to expose people or structures to a significant risk of loss, injury or death involving wildland fires. The City classifies fire management areas in three categories: High, Medium and Low Priority Management Units (Fire Hazard Management Units, Figure 8-4, General Plan, page 265). The classification refers to the level of risk management. The Project site is neither within a wildland fire management area nor at an urban/wildland interface zone. The Project no impacton is in the Low Priority Management Units area. The Project would have fighting wildland fires. 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-49 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST Finding : The Project site is appropriate for continued manufacturing use. The Project would not introduce fire, safety or hazardous materials risk into the area beyond that normally anticipated with a food manufacturing use land use. Moreover, no accidents or spills have been recorded on the site (Phase I ESA). The Project would not expose a school to the risk from hazardous materials; and would not result in an impact or contribute to a cumulative impact from hazardous materials exposure. P3-50 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION 3.8HWQ YDROLOGY AND ATERUALITY Environmental Factors and Focused Questions for PotentiallyLess Than Less Than Determination of Environmental Impact SignificantSignificantSignificantNo Impact with Impact Impact Mitigation VIII. HYDROLOGY AND WATER QUALITY — Would the Project: a) Violate any water quality standards or x waste discharge requirements? b) Substantially deplete groundwater supplies x or interfere substantially with groundwater recharge such that there would be a net deficit in aquifer volume or a lowering of the local groundwater table level (e.g., the production rate of pre-existing nearby wells would drop to a level which would not support existing land uses or planned uses for which permits have been granted)? c) Substantially alter the existing drainage x pattern of the site or area, including through the alteration of the course of a stream or river, in a manner which would result in substantial erosion or siltation on- or off-site? d) Substantially alter the existing drainage x pattern of the site or area, including through the alteration of the course of a stream or river, or substantially increase the rate or amount of surface runoff in a manner, which would result in flooding on- or off-site? e) Create or contribute runoff water which x would exceed the capacity of existing or planned stormwater drainage systems or provide substantial additional sources of polluted runoff? f) Otherwise substantially degrade water x quality? g) Place housing within a 100-year flood x hazard area as mapped on a federal Flood Hazard Boundary or Flood Insurance Rate Map or other flood hazard delineation map? h) Place within a 100-year flood hazard area x structures, which would impede or redirect flood flows? i) Expose people or structures to a significant x risk of loss, injury or death involving flooding, including flooding as a result of the failure of a levee or dam? 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-51 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST Environmental Factors and Focused Questions for PotentiallyLess Than Less Than Determination of Environmental Impact SignificantSignificantSignificantNo Impact with Impact Impact Mitigation j) Inundation by seiche, tsunami, or x mudflow? S/B ETTINGACKGROUND Colma Creek, the City’s main natural drainage system, is a perennial stream with a watershed of about 16.3 square miles that trends in a roughly southeasterly direction through the center of the City. The Colma Creek watershed is one of the three largest in the County. The basin is bounded on the northeast by San Bruno Mountain and on the west by a ridge traced by Skyline Boulevard. Dominant topographic features of the drainage basin include two relatively straight mountain ridges that diverge toward the southeast that are connected by a low ridge at the northern boundary of the area. The valley enclosed by the ridges widens toward the southeast where it drains into San Francisco Bay. The site is located in Flood Zone C defined as “areas of minimal flooding” on the City’s Federal Emergency Mapping Act (FEMA) map (Community Panel # 065062 0007B, September 2, 1982). The 75,433 square foot (1.73 acre) Project site is developed with a 28,902 square foot building. The Project would add 8,810 square feet for a total of 37,712 square feet. Lot coverage would be 0.50; a 22 percent increase from the existing 0.38 lot coverage and floor area ratio. If approved, the Project shall comply withNational Pollutant Discharge Regulatory Elimination System Storm filtration, retention and drainage requirements (see FrameworkChapter 1, Section 1.2.4, Hydrology and Water Quality , below and ). REGULATORY FRAMEWORK National Pollutant Discharge Elimination System Storm Water Discharge Permit The City of South San Francisco is a member of the San Mateo Countywide Storm Water Pollution Prevention Program (STOPPP), an organization of the City/County Association of Governments (C/CAG) of San Mateo County holding a National Pollutant Discharge Elimination System (NPDES) Storm Water Discharge permit. STOPPP's goal is to prevent polluted storm water from entering creeks, wetlands, and the San Francisco Bay. The City requires the implementation of Best Management Practices (BMP’s) for new development and construction as part of its storm water management program, as levied through standard City conditions of project approval. The City requires the implementation of BMP’s to ensure the protection of water quality in storm runoff from the Project site. In brief, the measures presented in the BMP handbook address pollution control and management mechanisms for contractor activities, e.g. structure construction, material delivery and storage, solid waste management, employee and subcontractor training, etc. The handbook also provides direction for the control of erosion P3-52 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION and sedimentation as well as the establishment of monitoring programs to ensure the effectiveness of the BMP’s. The City also requires an agreement with the applicant that ensures the permanent and on-going maintenance of water quality control improvements by the applicant and/or project site owner(s). Refer to the Bay Area Storm Water Management Agencies Association (BASMAA) Start at the Source Design Guidance Manual for Storm Water Quality Protection (available from BASMAA @ 510-622-2465 for a comprehensive listing of required measures. Typical storm water quality protection measures are identified Chapter 1, Section 1.2.4 in of this document. State Water Quality Control Board’s General Permitting Requirements The City of South San Francisco requires through conditions of project approval, project compliance with the State Water Quality Control Board’s general permitting requirements which require the applicant to secure a Construction Activities Storm Water General Permit, complete a Notice of Intent (NOI) and prepare and obtain approval of a Storm Water Pollution Prevention Plan (SWPPP). The state issues a Waste Discharge Identification number within 10 days of receipt of a complete NOI and SWPPP. The applicant is then required to submit copies of the NOI and SWPPP to the City of South San Francisco, Public Works Department Division of Water Quality, prior to issuance of building and/or grading permits. I MPACTS a) Violation of Water Quality Standards or Waste Discharge Requirements Significance Criteria: The Project would have a significant environmental impact if it were to result in any violation of existing water quality standards or waste discharge requirements. The Project as a matter of law is required to comply with the Storm Water Pollution Prevention Plan (SWPPP). The City requires the implementation of BMP’s for new development and construction as part of its storm water management program, as levied through standard City conditions of project approval by the Water Quality Control Division Chapter 1.2.4, Hydrology and Water Quality of the Public Works Department (see ). The less than significant impact with respect to violations of water Project would present a quality standards or waste discharge requirements. b) Deplete or Interfere Substantially with Groundwater Significance Criteria: The Project would have a significant environmental impact if it substantially depletes groundwater supplies or interferes substantially with groundwater recharge such that there would be a net deficit in aquifer volume or a lowering of the local groundwater table level. The Project would not increase impervious surfaces on the site. The Project would add floor impact on depletion or area in an area that is already paved and impervious. The Project’s interference with groundwater would be less than significant . 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-53 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST c and d) Alter Existing Drainage Patterns/Erosion and Siltation Effects or Alter Existing Drainage Patterns/Flooding Effects Significance Criteria: The Project would have a significant environmental impact if it were to substantially alter the existing drainage pattern of the site in a manner which would result in substantial erosion or siltation. The Project would have a significant environmental impact if it were to substantially alter the existing drainage pattern of the site or area or substantially increase the rate or amount of surface runoff in a manner that would result in flooding on- or off-site. There are no streams or water courses on the Project site. Therefore streams, watercourses or rivers would not be affected by the Project. The Project would correct the current drainage patterns on the site. The site currently drains by sheetflow off the slopes and onto the paved area. The Project proposes to improve the storm drain system on the site to correct this situation. Moreover, the Project would be required to incorporate BMP’s into construction and design of the site and as such would improve drainage patterns eliminate any siltation into the storm drain system. Geology and Soils Section 3.6 The, above notes the presence of water seepage at the base of the driveway slope. The cause of the seepage is either leaking water or irrigation pipes upslope or a naturally occurring spring that became evident likely due to the high volume of recent rains. The Project proposes to correct the water seepage and depending on the source, either a drain would be installed or leaking water or irrigation pipes repaired. There would no impact related to altered drainage patterns or siltation at the Project site be. e) Runoff Exceeding Drainage System Capacity/Increase Polluted Runoff Significance Criteria: The Project would have a significant environmental impact if it were to create or contribute runoff water which would exceed the capacity of existing or planned storm water drainage systems or provide substantial additional sources of polluted runoff. The Project, as a matter of law, is required to submit a SWPPP and an Erosion Control Plan to the City Engineer and the Water Quality Control Division prior to the commencement of any grading or construction of the proposed Project. The SWPPP as noted in the Background/Setting SectionChapter 1, Section 1.2.4 , above, and is required to include storm water pollution control devices and filters to be installed to prevent pollutants from entering the City’s storm drain system and San Francisco Bay. The Plan shall be subject to review and approval of the City Engineer and the City’s Storm Water Coordinator. Water quality measures are required to be included in the building permit packet; therefore all contractors are as a matter of law made aware of the requirements. Additionally, the Engineering Division of the Public Works Department as well as the Water Quality Control Division conducts routine inspections of this and all project sites to insure compliance. Failure to comply with the approved construction BMPs would result in the issuance of P3-54 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION correction notices, citations or a Stop Work Order. Plans for the Project will as a matter of law include erosion control measures to prevent soil, dirt and debris from entering the storm drain system. Implementation of the measures required as a matter of law would reduce the less than significant with respect runoff, polluted runoff and Project’s impact to a level of storm drain capacity . f) Otherwise Degrade Water Quality Significance Criteria: The Project would have a significant environmental impact if it were to degrade water quality. The Project would improve drainage and site conditions with respect to filtering and directing water prior to release into the City’s storm drain system. The Project manufactures candy and is not associated with the use of hazardous materials that could be emitted into the water system. Minor repair of manufacturing equipment does occur in the shop area of the Project. To date there have been no issues with solvent, gasoline or diesel releases (City less than significant impacton website and Phase I ESA). Therefore, there would be a water quality from point source water pollution at the Project site . g – i) Flood Hazards Significance Criteria:The Project would have a significant environmental impact if it were to place any housing units within a designated 100-year flood hazard area; if it placed any structures in a manner which would impede or redirect flood flows; or if it were to result in the exposure of people or structures to flooding hazards. The site is located in Flood Zone C defined as “areas of minimal flooding” on the City’s Federal Emergency Mapping Act (FEMA) map (Community Panel # 065062 0007B, September 2, 1982). no impact related to the placement of people or structures in a The Project would have flood hazard area, the exposure of people or structures to a flood hazard, or a structure in such a way that it would impede or redirect flood flows . j) Tsunami Hazards Significance Criteria: The Project would have a significant environmental impact if it were to result in the exposure of people or structures to inundation by seiche, tsunami or mudflow. The City’s General Plan estimates that potential wave run-up of a 100-year tsunami would be approximately 4.3 feet above mean sea level (msl) and approximately 6.0 feet above msl for a 500-year tsunami (Dyett and Bhatia, South San Francisco General Plan, page 250). The Project site is not located in a tsunami hazard zone as shown on Association of Bay Area Government maps (ABAG,http://www.abag.ca.gov/bayarea/eqmaps/eqfloods/floods.html). the impact of potential inundation by tsunami or seiche is considered toless Therefore, be than significant . 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-55 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST Finding: The City’s standard conditions of approval which implement state, federal and local regulations are required by law and are adequate to address any potential water quality impacts as a result of Project construction or occupation. No mitigation measures, above those required by the City as a matter of law, are identified in this Initial Study. The Project would not result in an impact or contribute to a cumulative impact to hydrology or water quality resources. 3.9 LUP ANDSE AND LANNING Environmental Factors and Focused Questions for PotentiallyLess Than Less Than Determination of Environmental Impact SignificantSignificantSignificantNo Impact with Impact Impact Mitigation IX. LAND USE AND PLANNING — Would the Project: a) Physically divide an established x community? b) Conflict with any applicable land use plan, x policy, or regulation of an agency with jurisdiction over the Project (including, but not limited to the general plan, specific plan, local coastal program, or zoning ordinance) adopted for the purpose of avoiding or mitigating an environmental effect? c) Conflict with any applicable habitat x conservation plan or natural community conservation plan? S/B ETTINGACKGROUND REGULATORY FRAMEWORK City of South San Francisco General Plan The General Plan land use designation is Community Commercial. The Project is located in the Paradise Valley/Terrabay planning area.Paradise Valley/Terrabay Implementing Policy 3.8-1-4, (General Plan, page 121) states: Ensure that any redevelopment of the site on the north of Hillside Boulevard at the terminus of Linden Avenue includes a supermarket, or a grocery store at least 10,000 square feet in area. Require any new development on the site to be built to the edge of the property along Hillside Boulevard, with transparent storefronts and awnings for pedestrian comfort. A General Plan amendment is needed to modify the existing language to allow redevelopment of the site to continue as a manufacturing use; to allow the continuation and P3-56 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION expansion of long-term manufacturing uses and to require any new development to be consistent with the Community Commercial land use designation. The General Plan amendment would be similar to the language in South Spruce Corridor Area B: South and Central Corridor Policy 3.3-1-11. The intent of these policies is to retain long-term manufacturing uses such as See’s Candy, Oroweat Bread and Gimbal’s Fine Candy which has been in South San Francisco since the 1950’s. Zoning The zoning for the site is Community Commercial (CC). The purpose of the commercial, office and mixed use zoning is to provide appropriately located areas for a full range of commercial and office uses to ensure the stability of the City’s economy, provide a variety of goods and services for residents, employees and visitors, and increase employment opportunities close to home for current and future residents consistent with the General Plan. The zoning district encourages a diverse mix of commercial and office businesses and work to ensure that new development is designed to minimize traffic and parking impacts on surrounding neighborhoods. Development should also be appropriate to the physical characteristics of the site (South San Francisco Municipal Code, Zoning, Chapter 20.090.001 A-F). The CC zoning district regulations are intended to provide areas for locally oriented retail and service uses, community-serving offices, restaurants, retail, public and quasi-public uses, and similar and compatible uses. The maximum floor area ratio (FAR) is 0.5 (op., cit). The Project proposes a 0.50 FAR. San Mateo County County of San Mateo Airport Land Use Commission (ALUC) State law establishes an ALUC in each county where one or more airports exist, to coordinate the compatibility of new development near airports. The ALUC does not have any authority over airport operations, but it does have the authority to conduct land use planning for areas around airports in the county. The ALUC makes a determination that general plans, zoning standards, and any proposed new development in its planning area are in conformance with the Airport Land Use Plan. The 1981 San Mateo County Airport Land Use Plan, in coordination with Federal Aviation Regulation Part 77, established a 161-foot above mean seal level height limit around San Francisco International Airport. The Project site is within the 50 foot maximum permitted height limit (Figure 2-3, Special Area Height Limitations, General Plan, page 35). The height limitation is related to the airport height limitations pursuant to the Airport Land Use Commission oversight. The ALUC height limitation is based upon safety factors. The maximum existing height of the Project is 30 feet. 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-57 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST I MPACTS a) Division of an Established Community Significance Criteria:The Project would have a significant environmental impact if it were to physically divide an established community. The Project site is located in the northern area of the City of South San Francisco within the Paradise Valley Neighborhood. The Paradise Valley Neighborhood is one of 12 neighborhoods, or planning areas within the City of South San Francisco. The Project site is adjacent to single family residential development to the north and west. Heavy commercial and or light industrial land uses flank the Project’s eastern property line. The commercial uses, located in multi-tenant buildings include a linen supply, storage, book binding, boiler and engineering company, newspaper publishing, religious institution, cargo freight services, exercise business and bus repair. The Martin School, the Girls and Boys Club and residential land uses are located west and southwest of the site across Hillside Boulevard and North Spruce Avenue. Two small- service grocery stores and are located in the Project vicinity; one across Hillside Boulevard and one at the corner of Hillside Boulevard and Linden Avenue. Residential land uses are located behind the commercial uses fronting Hillside Boulevard, to the south, southwest and west. The Project would not change land uses in the area; it would allow for a slight intensification Project would not and the continuation of the business established in the early 1950’s. The divide an established community but would continue with the existing land use and would therefore have no impact on dividing an established community. b) Conflicts with Land Use Plan and Zoning Significance Criteria:The Project would have a significant environmental impact if it were to result in a conflict with any applicable land use plan, policy, or regulation of an agency with jurisdiction over the Project adopted for the purpose of avoiding or mitigating an environmental effect. The Project does require a General Plan amendment to allow the expansion of the manufacturing business. The City, through its General Plan update process in 1999, identified the need for a full service grocery store on the Project site. The General Plan policy states that any redevelopment of the site shall include a supermarket or at least a grocery store of 10,000 square feet. The policy is based upon area service needs and is not an environmental protection policy. Environmental protection policies are noted throughout the General Plan and are discussed in subsequent paragraphs in this section and throughout this chapter. The Project site is designated as one with a maximum height limit of 50 feet identified by the Federal Aviation Administration deemed necessary to protect public safety. The FAA height P3-58 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION limits are adopted in the City’s General Plan. The Project would be 36 feet maximum or 14 feet below that established by the ALUC as requisite to protect public safety and would not Section result in a safety hazard for people working or living at the Project site. As noted in 3.8, Hazards and Hazards Materials , the Project would not impact airport height limitations. The Project site is not identified on Figure 7-1, General Plan Policies for Sensitive Biological Resources or Figure 7-2, Special Environmental Studies Required for Development Proposals (pages 225 and 227, General Plan). As such the Project would have no impact with respect to land use or zoning controls developed to address environmental concerns. c) Conflict with Conservation Plan Significance Criteria: The Project would have a significant environmental impact if it were to result in a conflict with any applicable habitat conservation plan or natural community conservation plan. There are no conservation plans either currently in force or proposed for the subject property Section 3.4, Biological Resources.no as discussed in Therefore, the Project would have impacton conservation plans. Finding: TheProject would not physically divide an established community. The Project site is not in a conservation plan area, or under special study for conservation. The Project would not result in any individually or cumulatively considerable impacts. 3.10 MR INERALESOURCES Environmental Factors and Focused Questions for PotentiallyLess Than Less Than Determination of Environmental Impact SignificantSignificantSignificantNo Impact with Impact Impact Mitigation X.MINERAL RESOURCES — Would the Project: a) Result in the loss of availability of a known x mineral resource that would be of value to the region and the residents of the state? b) Result in the loss of availability of a x locally-important mineral resource recovery site delineated on a local general plan, specific plan or other land use plan? S/B ETTINGACKGROUND Review of aerial photographs indicates that the Project site and surrounding area were undeveloped in 1943, with the exception of Hillside Boulevard and Linden Avenue. The main building appears in photographs taken in 1953. 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-59 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST I MPACTS a and b) Loss of Mineral Resources Significance Criteria:The Project would have a significant environmental impact if it were to result in the loss of availability of a known mineral resource that would be of value to the region and the residents of the state, or if it were to result in the loss of availability of a locally-important mineral resource recovery site delineated on a local general plan, specific plan or other land use plan. No mineral resources of value to the region and the residents of the state have been identified at the Project site or within the Project area (General Plan Background Report, General Plan). The Project site has not been delineated as a locally important mineral recovery site on the City of South San Francisco General Plan, on any specific plan, or on any other land use no impacton any known mineral plan. Therefore, the proposed Project would have resource, or result in the loss of availability of any locally important resource recovery site . Finding: The Project site does not contain any local or regionally significant mineral resources. The Project would not result in an impact or contribute to a cumulative impact to mineral resources. P3-60 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION 3.11N OISE Environmental Factors and Focused Questions for PotentiallyLess Than Less Than Determination of Environmental Impact SignificantSignificantSignificantNo Impact with Impact Impact Mitigation XI.NOISE — Would the Project: a) Exposure of persons to or generation of x noise levels in excess of standards established in the local general plan or noise ordinance, or applicable standards of other agencies? b) Exposure of persons to or generation of x excessive groundborne vibration or groundborne noise levels? c) A substantial permanent increase in x ambient noise levels in the Project vicinity above levels existing without the Project? d) A substantial temporary or periodic x increase in ambient noise levels in the Project vicinity above levels existing without the Project? e) For a Project located within an airport land x use plan or, where such a plan has not been adopted, within two miles of a public airport or public use airport, would the Project expose people residing or working in the Project area to excessive noise levels? f) For a Project within the vicinity of a x private airstrip, would the Project expose people residing or working in the Project area to excessive noise levels? S/B ETTINGACKGROUND NOISE SOURCES The dominant influences on sound levels in the Project area are derived from a combination of U.S. 101 highway noise, local roadway noise and aircraft flyovers. The loading and unloading of trucks associated with adjacent heavy commercial/light industrial land uses occasionally pepper the noise landscape. NOISE DEFINED Noise is generally defined as unwanted sound. Whether a sound is unwanted depends on when and where it occurs, what the listener is doing when it occurs, characteristics of the sound (loudness, pitch and duration, speech or music content, irregularity) and how intrusive it is above background sound levels. In determining the daily level of environmental noise, it 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-61 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST is important to account for the difference in response of people to daytime and nighttime noises. During nighttime, exterior background noises are generally lower than daytime levels. However, most household noise also decreases at night and exterior noise becomes more noticeable. Further, most people sleep at night and are very sensitive to noise intrusion. Residential, schools and open space recreational uses are generally considered to be noise- sensitive uses or sensitive receptors. To quantify the noise over a 24-hour period, the Day/Night Average Sound level (DNL or Ldn) or Community Noise equivalent Level (CNEL) is used. These noise descriptors include a 10 decibel (dB) penalty (addition to the actual measures levels) during nighttime hours (10 PM to 7AM) and a five dB penalty during evening hours (7 PM to 10 PM) for the CNEL to account for people’s sensitivity during these hours. Noise is measured and quantified with an A-weighted filter which closely approximates the way the human ear hears sound; a de- emphasis low-frequency and high-frequency sound. The resulting measurement is quantified as a dBA. A change of three dBA is considered just noticeable to the human ear. A five dBA change is clearly noticeable and a ten dBA change is perceived as doubling in loudness. SENSITIVE RECEPTORS Land uses that are typically considered sensitive to excessive noise include hospitals, day care centers, schools and residential uses. The closest sensitive receptors are residential land uses west and north of the Project located along North Spruce Street and Leo Circle. The closest residence is 150 feet to the west located on North Spruce Street. Residences on Leo Circle are approximately 200 feet from the Project. School and open space uses are south and southwest of the Project. Martin Elementary School is located approximately 500 feet from the Project. REGULATORY FRAMEWORK South San Francisco General Plan The City adopted the state Noise Compatibility Guidelines promulgated by the Department of Health Services. These criteria define the desirable maximum noise exposure of various land uses in addition to certain conditionally acceptable levels contingent upon the implementation of noise reduction measures. These guidelines identified in Table 9.2-1, Land Use Criteria for Noise Impacted Areas, of the General Plan (page 280) identifies a 5 noise environment 70 dBA, CNEL or less as acceptable for commercial land uses. The decibel (dB) is a logarithmic unit used to quantify sound intensity. Since the human ear is not equally 5 sensitive to all sound frequencies within the entire spectrum, human response is factored into sound descriptions in a process called "A-weighting" written as "dBA". CNEL: Community Noise Equivalent Level. Because community receptors are more sensitive to unwanted noise intrusion during the evening and at night, state law requires that for planning purposes, an artificial dB increment be added to quiet time noise levels in a 24-hour noise descriptor called the Community Noise Equivalent Level (CNEL). P3-62 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION South San Francisco Noise Ordinance (Chapter 8.32, Section 8.32.050) The City’s Noise Ordinance restricts construction activities to the hours of 8:00 a.m. to 8:00 p.m. on weekdays, 9:00 a.m. to 8:00 p.m. on Saturdays, and 10:00 a.m. to 6:00 p.m. on Sundays and holidays. This ordinance also limits noise generation of any individual piece of equipment to 90 dBA, at the property line (Section 8.32.050 (d) (2)). The ordinance does provide for exceptions to this rule where it is appropriate, i.e., the adjacent land use is not noise sensitive or the duration of the noise is not determined to be excessive. The California Building Code (CBC) Title 24, Part 2, Chapter 2.35 of the California Code of Regulations The regulation is collectively known as Title 24 which contains acoustical requirements for interior sound levels in habitable rooms for multi-family residential land uses. Title 24 contains requirements for construction of new hotels, motels, apartment houses, and dwellings other than detached single-family dwellings intended to limit the extent of noise transmitted into habitable spaces. The standard specifies the extent to which walls, doors, and floor-ceiling assemblies must block or absorb sound in between units and the amount of attenuation needed to limit noise from exterior sources. The standard sets forth an interior noise level of 45 dBA (CNEL or L) in any habitable room with all doors and windows dn closed and requires an acoustical analysis demonstrating how dwelling units have been designed to meet this interior standard where such units are proposed in areas subject to noise levels greater than 60 dBA (CNEL or L). Title 24 requirements are enforced as a condition dn of building permit issuance. The United States Environmental Protection Agency (USEPA ) The USEPA identifies 70 dBA, L as the noise level based on continuous exposure (i.e., 365 eq and 24-hour a day exposure) below which the public is protected from hearing loss due to ambient noise sources. The L measurement is not a “weighted” noise descriptor as is the eq L. dn EXISTING NOISE ENVIRONMENT The Project site is within the 60 to 65 dBA, CNEL noise contour (Figure 2, Projected Road and Rail Noise, General Plan, page 283). The Project site is not within an area impacted by aircraft noise (Figure 9-1, Aircraft Noise and Noise Insulation Program Area, General Plan, page 279). I MPACTS a – d) Exposure of Persons to or Generation of Noise Levels in Excess of Standards, Exposure of Persons to or Generation of Excessive Groundborne Noise Levels, a Substantial Temporary or Permanent Increase in Ambient Noise Levels in the Project Vicinity above Levels Existing Without the Project. 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-63 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST Significance Criteria: The Project would have a significant environmental impact if it were to result in exposure of persons to or generation of noise levels in excess of standards established in the South San Francisco General Plan (i.e., 75 dBA, CNEL without insulation for industrial or manufacturing land uses), the City’s Noise Ordinance (90 dBA, CNEL at the property line, in absence of an approved exception for non-noise sensitive adjacencies) or the USEPA’s threshold of 70 dBA, L continuous noise exposure (i.e. 365 and 24-hour a day eq exposure). Project Construction Overall Project construction is anticipated to consume 37 weeks, from mobilization to complete landscaping installation. The noisiest part of construction would be site preparation which includes demolition, grading, hauling, installation of site utilities, building foundation, plumbing and retaining wall construction. This phase would take approximately 15 weeks to complete. Building construction would take approximately 18 weeks, fine grading, paving and striping and landscaping would take approximately two weeks. A bulldozer (D-6) with a ripper, compactor and road grader would be used for rough grading, access area and the building addition and parking area. A hoe ram and jackhammer may be required for excavation in very dense soils. Pile driving is not proposed, or analyzed in this document. A 10-wheel dump truck would be used to move excess material from the site, and a water truck to provide dust control on a daily basis. Approximately 925 cubic yards of excess earth material would need to be off hauled from the site during the three weeks of construction associated with the building pad grading and 6 parking access, retaining wall foundation and infrastructure-related grading. Based upon 10 cubic yards per truck, the off haul would equate to a total of 90-95 trucks or approximately 20 to 25 trucks per day for four to five days during the grading period to dispose of excess material. Project construction would result in temporary short-term noise increases due to the operation of grading and construction equipment.Noise levels from grading operations are usually the noisiest part of construction activities. Sound levels range from about 85 to 90 dBA at 50 feet for certain types of earthmoving and impact equipment, such as jack hammers and hoe rams. Construction noise would be lower ranging from 75 to 85 dBA at 50 feet for most types of construction equipment. Interior construction of the building would result in lower noise levels for those outside the building because the shell of the building would attenuate noise. The geotechnical report (Cornerstone, April 9, 2011) indicates that grading in very dense rock may be required. Therefore, a hoe ram or a jackhammer may likely be required for 6 The geotechnical report notes that the 15 cubic yards of fill material may be derived from the excavation. The air quality and noise sections both use a worst-case assumption of 940 cubic yards and the truck trips associated with this quantity . P3-64 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION Project construction. Pile driving is not proposed as noted above, and if due to unforeseen circumstances was needed, drilling in place is a quieter and less intrusive option. Grading activities would not be a continuous source of noise on any given day. Noise impacts due to use of a jackhammer or hoe ram can be reduced in duration with a minimal and imperceptible (i.e., three dB) increase in sound levels. The geotechnical report notes that operations requiring a jack hammer or hoe ram could take two weeks to complete using one crew and one week using two crews. Using two crews to complete the jack and hoe ramming portion of the Project would add 3 dB to the noise levels (i.e., 88 to 93 dB) but reduce the duration of noise by one week. The following table illustrates this difference. NOISE TABLE 1 WORST CASE GRADING EQUIPMENT SOUND LEVELS Exterior dB at 50 Feet Exterior dB at 50 Feet One Crew Two Week Duration Two Crews One Week Duration Jack Hammer/ 85-9088-93 Hoe Ram Exterior Residential Exposure Exterior Residential Exposure dB at dB at 150 Feet 150 Feet One Crew Two Week Duration Two Crews One Week Duration 70-7573-78 Interior Residential Exposure Interior Residential Exposure 60-6563-68 The closest sensitive receptor is the single family residential neighborhood west and north of Noise Figure 1 the Project (see ). The closest residence is approximately 150 feet from the Project. The residences on both North Spruce Avenue and Leo Circle are elevated from the Project by a minimum of 30 feet. The residences are separated from the Project by soft terrain, that being landscaped hillside. Softscape attenuates noise approximately 7.5 dB per doubling distance and hardscape attenuates approximately 6 dB per doubling distance. Noise levels reaching the closest residential use would attenuate approximately 15 dB, 73 to 78 dB using two crews or 70 to 75 dB using one crew.Interior noise levels would attenuate another 10 to 15 dB with windows closed, 63 to 68 dB using two crews or 60 to 65 dB using one crew. Interior noise levels could be annoying during daytime hours while grading occurs. Project site preparation and construction would be annoying but would not exceed the USEPA’s threshold of 70 dBA, L continuous noise exposure (i.e. 365 and 24-hour a day eq exposure) requisite to protect health. The General Plan can be used as a guide for assessing temporary construction impacts. Exterior noise levels would exceed the 70 dB standard identified in the General Plan for residential land use (page 280) without noise insulation for new construction. The standard is however applied to new residential construction, and is a metric applied to continuous exposure not one that is temporary in nature. The City’s Noise Ordinance restricts construction activities to the hours of 8:00 a.m. to 8:00 p.m. on weekdays, 9:00 a.m. to 8:00 p.m. on Saturdays, and 10:00 a.m. to 6:00 p.m. on 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-65 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST Sundays and holidays. This ordinance also limits noise generation of any individual piece of equipment to 90 dBA, at the property line (Section 8.32.050 (d) (2)). The ordinance does provide for exceptions to this rule where it is appropriate, i.e., the adjacent land use is not noise sensitive or the duration of the noise is not determined to be excessive. The adjacent land use which is light industrial is not noise sensitive. NOISE FIGURE 1 LOCATION OF SENSITIVE RECEPTORS The additional truck traffic to deliver and remove materials from the site during grading and construction would add to the noise environment. Approximately 925 cubic yards of excess earth material would need to be off hauled from the site during the three weeks of construction associated with the building pad grading and parking access, retaining wall foundation and infrastructure-related grading. Project off haul would equate to 90-95 trucks or approximately 20 to 25 trucks per day during the grading period to dispose of excess material. P3-66 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION Safety regulations require backup beepers on trucks and heavy equipment. These sounds are designed to differ from the background din of construction noise in order to warn workers as to the location of equipment. The additional truck traffic in conjunction with the required intrusive beepers can be jarring and could interrupt the concentration of people residing in the area. Noise levels would not exceed the EPA standard of impact, 90 dB, Leq of continuous noise exposure. Notifying surrounding land uses of the construction phases and duration in conjunction with reducing the duration of the noisiest part of Project construction (grading) would reduce the annoyance. The City (Mr. Billy Gross, Associate Planner) has indicated that a condition of project approval will require the following: The Project shall reduce the period of time required for hoe rams and jack hammers by using two crews simultaneously to complete this portion of site preparation work. The Project sponsor shall prepare a Project construction schedule with the name(s) of contact person(s) in case of questions or concerns. The schedule shall be mailed to all residences and businesses within 500 feet of the Project site and visibly posted along the front elevation of the site. The City Planning Division shall review and approve the notice prior to the Project sponsor mailing and posting the notice. The Martin School and Boys and Girls Club are approximately 500 feet southwest of the Project, across Hillside Boulevard. These sensitive receptors would benefit by the noise attenuation afforded by the Gimbal`s Candy Building, in addition to being 500 feet from the Noise levels reaching this area would be expected to attenuate a minimum source of noise. of 50 dB and as a result would be a less than significant impact to school uses . The industrial land uses, including surface parking for those uses lay immediately east of the Project. Industrial land uses are not considered noise sensitive. Noise levels would be the greatest in the surface parking lot and would range from 84 to 90 dB. The industrial building south of the parking lot would shield noise to land uses across Hillside Boulevard. The building envelope of the industrial buildings would attenuate interior noise 10 to 15 dB. The Project itself is not considered a noise sensitive land use. There are noise sensitive land uses within the Project area that could be impacted by grading and to a lesser extent Construction related noise would be considered less than significant. construction noise. Project Operational Noise The operation of the Project could increase ambient noise levels in two ways, through the creation of additional traffic on local roadways and the operation of exterior mechanical equipment. Typically, traffic volumes need to double in order to result in a barely perceptible increase in noise levels (i.e., 3-5 dB). The Project would add approximately three Section 3.15 Traffic and Transportation truck trips and 14 vehicle trips per day (see ) along 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-67 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST Hillside Boulevard and onto other connecting streets. The surrounding road network supports considerably more traffic. For example, Hilllside Boulevard supports approximately 15,000 average daily traffic vehicle trips (ADT). Traffic volumes along Spruce Avenue are 18,200 ADT’s. Traffic volumes along Linden Section 3.15 Traffic and Avenue/South Linden Avenue are 12,900 ADT (see Transportation ). The Project would not double traffic volumes in the area and would not Operational noise impacts would be considered add perceptibly to the noise environment. less than significant . The Project is within the 60 to 65 dBA, CNEL noise contour (Figure 9-2, Projected Road and Rail Noise, General Plan, page 283) which is under the 75 dBA, CNEL standard for industrial land use and at the 70 dBA standard for commercial land uses. The Project is in Operational noise impacts are compliance with the General Plan standards for noise. considered to beless than significant for industrial and manufacturing land uses. e) and f) Aircraft Noise Significance Criteria: The Project would have a significant environmental impact if it were located within an airport land use plan (or, where such a plan has not been adopted, within two miles of a public airport or public use airport) or in the vicinity of a private airstrip and were to expose people residing or working in the Project area to excessive noise levels. The Project site is approximately two miles from San Francisco International Airport. The Project site is not within a noise environment impacted by aircraft operations identified on Figure 9-1, Aircraft Noise and Noise Insulation Program Area, (General Plan, page 279). The site is within the 60 to 65 dBA, CNEL noise contour influenced by rail and road noise sources (Figure 9-2, Projected Road and Rail Noise, General Plan, page 283). The Project, less than significant impact with based on the City’s land use criteria would not result in a respect to aircraft noise . Finding: The Project, existing, plus Project and cumulative noise environment is and would remain within the 60 to 65 dBA, CNEL and under the acceptable 75 dBA, CNEL for industrial land uses and 70 dBA, CNEL noise levels for commercial land uses. The Project would have a less than significant impact with respect to construction noise impacts. P3-68 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION 3.12PH OPULATION AND OUSING Environmental Factors and Focused Questions for PotentiallyLess Than Less Than Determination of Environmental Impact SignificantSignificantSignificantNo Impact with Impact Impact Mitigation XII. POPULATION AND HOUSING — Would the Project: a) Induce substantial population growth in an x area, either directly (for example, by proposing new homes and businesses) or indirectly (for example, through extension of roads or other infrastructure)? b) Displace substantial numbers of existing x housing, necessitating the construction of replacement housing elsewhere? c) Displace substantial numbers of people, x necessitating the construction of replacement housing elsewhere? S/B ETTINGACKGROUND The Project proposes a land use and development density that is consistent with the City’s General Plan and Zoning as noted above in Section 3.9 Land Use and Planning, above. I MPACTS a) Population Growth Significance Criteria:The Project would have a significant environmental impact if it were to induce either directly of indirectly population growth of a magnitude that additional housing, roads and/or infrastructure would need to be developed to serve the additional population. Operations at 250 Hillside Boulevard are conducted in two shifts. The first shift begins at 6:00 AM and ends at 2:30 PM. Approximately 27 employees are on the site during this time period. The second shift begins at 2:00 PM, ends at 10:30 PM and includes 11 employees. The requested 8,800 square foot expansion would permit a full second shift consisting of 18 employees and increase the production area from the existing 22,400 square feet to 31,200 square feet. Office area would remain at 2,540 square feet; storage at 2,500 square feet; boiler/mechanical, lockers and restrooms at 1,460 square feet for a total of 37,700 square feet. The expansion would also provide for a safer working environment. 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-69 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST The Project would accommodate seven additional employees on the afternoon shift, from 11 to 18, and increase overall employees on the site from 38 to 45 total. The employment increase is on par with Table 3.8-1, Paradise Valley/Terrabay: Development, Population, and Employment Under the General Plan (page 120). Existing employment associated with Community Commercial land use is a little higher than that anticipated in the General Plan which is 36 employees. The existing Gimbal’s operation is at 38 employees and would increase to a total of 45. The increase is very minor and is more than offset by the change in land use within the Terrabay/Centennial Towers Project approved in 2006. Approximately 700 employees are not anticipated on the Centennial Towers site due to the revised land use mix that does not include a hotel. Moreover, these employment projections are not meant to be exact, but an anticipation of the growth or change within the South San Francisco planning areas. The Project falls within a reasonable range of the projections. The Project less than significant impacton population growth would have . b and c) Displacement of Housing or People Significance Criteria:The Project would have a significant environmental impact if it would result in the displacement of substantial numbers of existing housing units or people living at the Project site. There are no residential units on the Project site. The Project would not require the displacement of any existing residential units or persons living on-site and therefore would no impacton the displacement of housing or people have. Finding : The Project would not exceed the development and growth assumptions contained in General Plan. The Project does not contain housing and would not displace housing units or residents. The Project would have no impact on population or housing. P3-70 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION 3.13PS UBLICERVICES Environmental Factors and Focused Questions for PotentiallyLess Than Less Than Determination of Environmental Impact SignificantSignificantSignificantNo Impact with Impact Impact Mitigation XIII. PUBLIC SERVICES — a) Would the Project result in substantial adverse physical impacts associated with the provision of new or physically altered governmental facilities, need for new or physically altered governmental facilities, the construction of which could cause significant environmental impacts, in order to maintain acceptable service ratios, response times or other performance objectives for any of the public services: i) Fire protection? x ii) Police protection? x iii) Schools? x iv) Parks? x v) Other public facilities? x S/B ETTINGACKGROUND The Project proposes a land use and development density that is consistent with the City’s Section 3.9 Land Use zoning and population and employment projections as noted above in and Planning Section 3.12 Population and Housing and. I MPACTS i-iv) Public Services Significance Criteria: The Project would have a significant environmental impact if it were to result in substantial adverse physical impacts associated with the provision of new or physically altered governmental facilities, the construction of which could cause significant environmental impacts, in order to maintain acceptable service ratios, response times or other performance objectives for fire protection, police protection, schools, parks and recreational facilities, or other government facilities. Section 3.9 Land Use and Planning Section 3.12 Population As described above, in and and Housing , the Project would not increase the City of South San Francisco’s population beyond the population projections contained in the General Plan. No significant increase in the demand for public services would be expected with no increase in population. The no impactassociated with public services Project would result in . 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-71 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST Finding : The Project would not exceed the development and growth assumptions contained in the General Plan. School impact fees are collected by the City’s Building Division based upon the square footage of residential, commercial and industrial construction. These fees are used by the school districts for school services. Additional development on the Project site would not increase the demand for public services individually or cumulatively. 3.14R ECREATION Environmental Factors and Focused Questions for PotentiallyLess Than Less Than Determination of Environmental Impact SignificantSignificantSignificantNo Impact with Impact Impact Mitigation XIV. RECREATION — a) Would the Project increase the use of x existing neighborhood and regional parks or other recreational facilities such that substantial physical deterioration of the facility would occur or be accelerated? b) Does the Project include recreational x facilities or require the construction or expansion of recreational facilities, which might have an adverse physical effect on the environment? S/B ETTINGACKGROUND Parks and recreational open space areas provide residents, employees and visitors opportunities for passive and active recreation.A range of recreational opportunities exist in South San Francisco, from shoreline open space on San Francisco Bay; Sign Hill Park, with an elevation of 600 feet; neighborhood parks; linear parks; recreational opportunities at schools; and San Bruno Mountain County Park. Although San Bruno Mountain County Park is outside the City limits, walking trails within the Terrabay and Centennial Towers developments on the northern boundary of the City provide recreational opportunities. Moreover, San Bruno Mountain County Park is within minutes, either by bicycle or vehicle, to South San Francisco. South San Francisco recently completed improvements to Orange Memorial Park and the Centennial Way linear park, a linear park above Colma Creek, extending from Noor Avenue to the City’s northern boundary. The Project is within a quarter mile radius of Centennial Towers and Terrabay trails and parkland on Sign Hill. Chapter 5, Parks, Recreation and Open Space of the General Plan (page 174), states that the 7 City has 319.7 acres of parks and open space, or 5.4 acres or parkland per 1,000 residents. This includes 70 acres of developed parkland which includes community, neighborhood, 7 This number does not reflect the recently completed Centennial Way linear park . P3-72 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION linear and mini parks. There are three community parks, six neighborhood parks, 12 mini parks, 11 school parks and five open space areas within South San Francisco. In addition, there are two linear parks, one along the bayshore and the other as mentioned, Centennial Way. The Oyster Point Marina Park is in the bayshore area, within Terrabay is a recreation center and within Centennial Towers is a history and nature walk and the Sign Hill park contains open space. The City has identified future development of six parks (Figure 5-1, Schools, Parks and Open Space, General Plan, page 175).Figure 5-1 identifies a planned linear park less than a quarter mile east of the Project. Parkland improvements are in part funded by Quimby Act fees, as a part of the subdivision process. Quimby Act fees enable a lead agency to levy park-in-lieu fees to developments based upon population estimates and a targeted acreage of recreational land per person. The Project is not subject to Quimby Act fees as no subdivision is being proposed. I MPACTS a and b) Recreation Significance Criteria: The Project would have a significant environmental impact if it were to result in an increase in the use of existing parks or recreational facilities such that substantial physical deterioration of these facilities could be anticipated, or if it were to include recreational facilities, the construction of which might have adverse physical effects on the environment. Parks and recreational needs within the City are identified from the development and employment assumptions contained in the South San Francisco General Plan. The Project Section proposes a development density that is consistent with the zoning, as noted above in 3.9 Land Useand Planning and employment levels consistent with projections in the Section 3.12 Population and Housing Paradise Valley area as noted in, above. The impact on recreation facility demand or construction would be less than Project’s significant . Finding: Parks and recreational needs within the City are derived from the development assumptions contained in the South San Francisco General Plan. The Project is proposing development consistent with the General Plan employment projections. Therefore, the Project would not result in an individual or cumulatively considerable impact on parks and recreation. 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-73 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST 3.15TT RANSPORTATION AND RAFFIC Environmental Factors and Focused Questions for PotentiallyLess Than Less Than Determination of Environmental Impact SignificantSignificantSignificantNo Impact with Impact Impact Mitigation XV. TRANSPORTATION AND TRAFFIC — Would the Project: a) Cause an increase in traffic, which is x substantial in relation to the existing traffic load and capacity of the street system (i.e., result in a substantial increase in either the number of vehicle trips, the volume to capacity ratio on roads, or congestion at intersections)? b) Exceed, either individually or cumulatively, x a level of service standard established by the county congestion management agency for designated roads or highways? c) Result in a change in air traffic patterns, x including either an increase in traffic levels or a change in location that results in substantial safety risks? d) Substantially increase hazards due to a x design feature (e.g., sharp curves or dangerous intersections) or incompatible uses (e.g., farm equipment)? e) Result in inadequate emergency access? x f) Conflict with adopted policies, plans, or x programs supporting alternative transportation (e.g., bus turnouts, bicycle racks)? S/B ETTINGACKGROUND From the north, the Project site is accessed via Sister Cities Boulevard to Hillside Boulevard or from Airport Boulevard, to Linden Avenue then Hillside Boulevard. Both Linden and Spruce Avenues provide access to Hillside Boulevard from the south. Spruce Avenue originates from El Camino Real in the southern portion of the City. Spruce Avenue traverses in a north/south direction and as it crosses Grand Avenue becomes School Street. School Street becomes North Spruce Avenue north of Hillside Boulevard. North Spruce Avenue terminates above the Project site just below Sister Cities Boulevard, and does not access Sister Cities Boulevard. Linden Avenue also traverses in a north south direction through the City; beginning near the Project, extending to the southern boundary of the City terminating at Tanfroan Avenue and Shaw Road. Linden Avenue becomes South Linden Avenue approximately midway along its length. P3-74 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION STREETS AND FREEWAYS The primary road network that serves the Project site is Airport Boulevard, Hillside Boulevard, Sister Cities Boulevard, Spruce Avenue and Linden Avenue. Following is a brief description of the roadways. Streets Hillside Boulevard is a two lane collector street connecting Linden Avenue with Sister Cities Boulevard to the northwest along the Project frontage. At the signalized intersection of Hillside Boulevard and Sister Cities Boulevard it converts to a four lane road trending to the west. Average daily traffic volumes (ADT) are 15,000 (Figure 4-1, Street Classifications, General Plan, Page 141). Airport Boulevard is a four- to six-lane, north-south arterial street that parallels the west side of the U.S.101 freeway. This roadway continues north into the City of Brisbane and the City of San Francisco, where it is called Bayshore Boulevard.South of San Mateo Avenue, Airport Boulevard changes names to Produce Avenue. Airport Boulevard is classified as a major arterial (op.cit) and in the vicinity of the project supports 8,700 ADT’s (Crane Transportation Group, April, 2011). Sister Cities Boulevard is a four lane major arterial extending from its intersection with Airport Boulevard in the east to its intersection with Hillside Boulevard in the west. ADT’s range from 6,000 near Airport Boulevard to 15,000 where the roadway converts to Hillside Boulevard (ibid.). The Project is mid way between these two points. Spruce Avenue/School Street/North Spruce Avenue is a two lane street adjacent to the Project on the west, classified as “other street” in the General Plan (ibid.). North Spruce Avenue turns into School Street when it crosses Hillside Boulevard in front of the Project. School Street is a minor collector and converts to a minor arterial and Spruce Avenue, just south of Grand Avenue. Spruce Avenue terminates at El Camino Real near the southern edge of the City. Traffic volumes along Spruce Avenue are 18,200 ADT’s (ibid.). Linden Avenue/South Linden Avenue is a two-lane collector street running in a general north-south direction from San Mateo Avenue in the southern edge of the City to downtown South San Francisco and Airport Boulevard on the north. Traffic volumes along Linden Avenue/South Linden Avenue are 12,900 ADT (ibid.). The roadway is classified as a minor arterial (ibid). Freeways U.S.101 is an eight-lane freeway running in the north-south direction. U.S.101 is approximately half a mile east of the Project site. U.S.101 is over 1,500 miles long and runs between Los Angeles and Olympia, WA, and is a major regional freeway on the peninsula. The freeway has an Average Annual Daily Traffic (AADT) of approximately 229,000 vehicles south of I-380 including 15,900 vehicles during the peak hour. Additionally, north 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-75 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST of I-380 the AADT is approximately 204,000 vehicles and 14,700 vehicles during the peak hour (Crane Transportation Group, March, 2011). I-280 is an eight-lane freeway that generally runs in the north-south direction 1.25 miles west of the Project site. I-280 is one of two major regional freeways on the peninsula and has its northern and southern termini respectively in San Francisco and San Jose. I-280 supports four mixed use lanes in each direction, in the vicinity of the Project site. I-280 has an Annual AADT of approximately 101,000 vehicles south of I-380 including 12,000 during the peak hour; and approximately 165,000 north of I-380 including 12,900 during the peak hour (op. cit). I-380 is an eight-lane spur freeway that runs in the east-west direction for 1.5 miles between I-280 and U.S.101 and is a little more than half a mile south of the Project site. I-380 has an AADT of approximately 120,000 vehicles west of S.R.82 with 9,200 vehicles during the peak hour; and approximately 142,000 vehicles east of S.R.82 with 10,700 vehicles during the peak hour. Access to and from I-380 from the Project site is most nearly accessed from El Camino Real / S.R.82 or via the U.S.101 freeway (ibid.). State Route 82 (S.R.82) (El Camino Real) is an arterial which extends north from the Santa Clara County line across the San Francisco County line. The arterial is approximately three quarters of a mile west of the Project site and has six lanes with three in each direction. In the vicinity of the Project site, the roadway has an AADT of approximately 36,000 vehicles south of I-380 including 3,200 during the peak hour. North of I-380, the AADT is 41,500 with 3,700 vehicles during the peak hour (ibid.). I MPACTS a) and b) Increase in Traffic in Relation to Existing Traffic Load and Street System Capacity Significance Criteria:Intersection and roadway segment significance criteria have been adopted from the 2007 San Mateo County Congestion Management Program (CMP). Based on the CMP standards, the acceptable operating level of service is defined at LOS D. No CMP intersections are included in this analysis, based on the location of the Project. An impact on local roadways is defined as an increase in traffic is substantial in relation to the existing traffic load and capacity of the street system. The Project would add up to five additional truck trips between the Shaw Road and Hillside Boulevard facilities per day. The likely travel path would be Linden Avenue which currently supports approximately 12,900 ADT. The Project increment to this traffic stream is de minimus. Full employment on the afternoon shift would add seven employees and approximately seven new round trips added to the road network in the Project area would be de minimus. The local roadways support volumes from 6,000 to 18,200 ADT’s. Moreover, the Project includes a Trip Reduction Program that is designed to reduce parking demand and vehicle P3-76 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION use. The Trip Reduction Program includes incentives for ride sharing, public transit subsidies and provisions for bicycles. a less than significant impact with respect to increasing local The Project would result in roadway traffic and street capacities . c) Alter Air Traffic Patterns Significance Criteria:The Project would have a significant effect if it were to result in a change in air traffic patterns, including either an increase in traffic levels or a change in location that results in substantial safety risks Section 3.7: Hazards and Hazardous Materials Air Navigation Hazards are discussed in . The Project would not alter any air traffic patterns that are already in place and, consistent no impact with respect to air with the previous discussion, the Project would have navigation hazards . d) Hazards due to Design Features or Incompatible Uses Significance Criteria:The Project would have a significant effect if it were to increase traffic hazards due to its design or the introduction of incompatible traffic. no change The Project would not alter access to the site. Therefore the Project would have or no impact with respect to hazardous design features. e) Emergency Access Significance Criteria: The Project would have a significant effect if it were to have inadequate emergency access. Section3.8, Hazards Emergency access to the site would remain unchanged. As noted in and Hazards Materials, no impact on emergency access the Projectwould have . f) Alternative Transportation Significance Criteria: The Project would have a significant effect if it were to conflict with adopted policies, plans or programs supporting alternative transportation (e.g., bus turnouts, bicycle racks). The Project proposes a Trip Reduction Program which implements alternate transportation would not conflict with adopted policies, plans or programs supporting modes. The Project alternative transportation and would have no impact. Finding: The Project’s impact on local roadway traffic volumes would be de minimus. The Project would not alter site access and as such would not impact emergency access or introduce hazardous maneuvers or design features. The Project supports alternative 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-77 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST transportation modes by implementation of the proposed Trip Reduction Program. The Project would have no impact on aircraft flyovers. 3.16USS TILITIES AND ERVICE YSTEMS Environmental Factors and Focused Questions for PotentiallyLess Than Less Than Determination of Environmental Impact SignificantSignificantSignificantNo Impact with Impact Impact Mitigation XVI. UTILITIES AND SERVICE SYSTEMS — Would the Project: a) Exceed wastewater treatment requirements x of the applicable Regional Water Quality Control Board? b) Require or result in the construction of new x water or wastewater treatment facilities or expansion of existing facilities, the construction of which could cause significant environmental effects? c) Require or result in the construction of new x storm water drainage facilities or expansion of existing facilities, the construction of which could cause significant environmental effects? d) Have sufficient water supplies available to x serve the Project from existing entitlements and resources, or are new or expanded entitlements needed? e) Result in a determination by the x wastewater treatment provider, which serves or may serve the Project that it has adequate capacity to serve the Project’s projected demand in addition to the provider’s existing commitments? f) Be served by a landfill with sufficient x permitted capacity to accommodate the Project’s solid waste disposal needs? g) Comply with federal, state, and local x statutes and regulations related to solid waste? S/B ETTINGACKGROUND The Project site has been developed since the early 1950’s and is in an area that has been developed since the mid to late 1950’s. Infrastructure and utilities are in place and are currently serving the site and the area. P3-78 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION I MPACTS a) Regional Wastewater Treatment Standards Significance Criteria: The Project would have a significant environmental impact if it were to exceed wastewater treatment requirements of the applicable Regional Water Quality Control Board (RWQCB). The City’s storm drain outfalls operate under NPDES permits granted by the RWQCB. The South San Francisco Municipal Code (Title 14) contains regulations related to stormwater Chapter 1.2.4 management. As identified in as a matter of law, projects are required to implement BMP’s and comply with SWPPP regulations. less than significantimpactrelated to an exceedance of The Project would have a wastewater treatment requirements of the RWQCB . b and e) Water and Wastewater Treatment Facilities Significance Criteria: The Project would have a significant environmental impact if it were to result in a determination by the wastewater treatment provider which may serve the Project that it has inadequate capacity to serve the Project's projected demand in addition to the provider's existing commitments. All wastewater produced within the City of South San Francisco is treated at the City’s Water Quality Control Plant (WQCP), which is located at the end of Belle Air Road, near the edge of San Francisco Bay. The WQCP is jointly owned by the Cities of South San Francisco and San Bruno, and it treats all wastewater generated within the two cities. The WQCP also has contracts to treat most of the wastewater produced by the City of Colma and a portion of the wastewater produced by the City of Daly City. Wastewater The City’s Water Quality Control Plant (WQCP) was upgraded in 2000-01. The City of South San Francisco has a current allocation of 8.74 million gallon per day (MGD) and is currently generating 5.6 MGD. The capacity allocated to the City of South San Francisco is based upon the growth projections identified in the City’s General Plan. The Project is in conformance with the development and employee assumptions contained in the General Plan. The Project is not requesting a variance to floor area or density regulations. The Project, as a condition of approval, would be required to pay a pro rata, fair share sewer improvement fee a less than to cover the costs of the wastewater improvements. The Project would have significant impactwith respect to wastewater treatment . Water See discussion under d, below. 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-79 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST c) Storm Water Drainage Facilities Significance Criteria: The Project would have a significant environmental impact if it were to require or result in the construction of new storm water drainage facilities or in the expansion of existing facilities, the construction of which could cause significant environmental effects. The Project is connected into the stormwater facilities, proposes to improve storm water facilities on the site and is required to implement BMP measures as identified in the Introduction Chapter 1.2.4Section 3.9 Hydrology and Water Quality and . The Project less than significantimpact respect to increased water runoff or the building would have a or expansion of new storm water drainage facilities . d) Water Supply Significance Criteria: The Project would have a significant environmental impact if it were to require additional water supply beyond that available from existing entitlements and resources. Senate Bill 610 (SB 610) was adopted in 2001 and became effective January 1, 2002. SB 610 requires cities to consider water supply assessments to determine whether projected water supplies can meet a project’s water demand. SB 610 and the CEQA Guidelines (Section 15083.5) identify residential projects generally exceeding 500 units and commercial or industrial projects employing more than 1,000 persons as potential impact thresholds. Potable water is provided for the City of South San Francisco and much of San Mateo County by the California Water Service Company (CWSC), which purchases most of its supply from the San Francisco Water Department (SFWD). CWSC drafted and adopted an Urban Water Management Plan (UWMP) in 2006. The UWMP was established in accordance with the California Urban Water Management Planning Act, (Division 6 Part 2.6 of the Water Code, Section 10610-10656). Water Code Section 10910 subd. (c)(2), Government Code, Section 66473.7, subd. (c)(1) notes that it is acceptable to use the most recently adopted UWMP to assess water supply in accordance with the California Urban Water Management Planning Act and SB 610. less than significant impact with respect to water supply The Project would have a . The Project is consistent with the development and employee assumptions identified in the General Plan and the UWMP which builds upon the development and growth assumptions in planning documents. The Project would not result in a cumulative impact with respect to water usage. The UWMP projects and accounts for the South San Francisco service area within the CWSC jurisdiction. The projected City population is 57,977 which includes the 2,410 additional persons anticipated as a result of land use intensification identified in the South/El Camino Real General Plan Amendment (2010), the latest planning document anticipating and analyzing growth and population increases due to land use modifications. P3-80 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION f) and g) Solid Waste Significance Criteria: The Project would have a significant environmental impact if it were to be served by a landfill with inadequate permitted capacity to accommodate the Project's solid waste disposal needs, or if it were to fail to fully comply with federal, state, and local statutes and regulations related to solid waste. The Building Division, as a requirement of a demolition permit, requires the recycling and / or reuse of demolition materials. Project plans are required by law to include recycling areas Construction and operation of the Project would generate on the building permit drawings. a less than significant amount of solid waste, and operation of the Project would be in full compliance with all federal, state and local statutes and regulations related to solid waste. Finding : The City’s wastewater treatment plant was upgraded in 2000-01 and has adequate capacity to treat Project wastes. The Project as a matter of law would be required to pay wastewater improvement fees. The UWMP was adopted in 2006 and adequate water is available for the Project. New construction will be regulated by BMPs, an improvement over existing conditions. The Project would not contribute individually or cumulatively to water, wastewater, stormwater, and utility impacts. 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-81 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST 3.17 Mandatory Findings of Significance Environmental Factors and Focused Questions for PotentiallyLess Than Less Than Determination of Environmental Impact SignificantSignificantSignificantNo Impact with Impact Impact Mitigation XVII. MANDATORY FINDINGS OF SIGNIFICANCE — a) Does the Project have the potential to X degrade the quality of the environment, substantially reduce the habitat of a fish or wildlife species, cause a fish or wildlife population to drop below self-sustaining levels, threaten to eliminate a plant or animal community, reduce the number or restrict the range of a rare or endangered plant or animal or eliminate important examples of the major periods of California history or prehistory? b) Does the Project have impacts that are X individually limited, but cumulatively considerable? (“Cumulatively considerable” means that the incremental effects of a Project are considerable when viewed in connection with the effects of past Projects, the effects of other current Projects, and the effects of probable future Projects.) c) Does the Project have environmental X effects, which will cause substantial adverse effects on human beings, either directly or indirectly? a) Quality of the Environment less than significant with measures that are Impacts of the Project are considered to be required by law . Implementation of the Project would not degrade the quality and extent of the environment provided all policies, rules and regulations of all relevant governing bodies are adhered to, and the measures contained within this chapter are implemented. b) Cumulative Impacts less than significant. Cumulative impacts of the Project are considered to be As discussed in the preceding sections of this checklist, implementation of the Project would not cumulatively impact the environment provided all policies, rules and regulations of all relevant governing bodies are adhered to, and the measures contained within this chapter are implemented. P3-82 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION c) Adverse Effects on Human Beings The Project would not have environmental effects that would cause substantial adverse effects on human beings, either directly or indirectly. Noise, air quality, and traffic impacts less than significant on adjacent land uses are . The Project would not expose people to new hazards such as geologic risks, flooding, or airport hazards. There would be no other adverse effects on human beings. 3.17.A. FINDINGS NO OR LESS THAN SIGNIFICANT IMPACT AND NO MITIGATION REQUIRED Aesthetics The Project would not have an impact on the aesthetics or scenic quality on the Project site or in the Project area. There would be no individual or cumulative impacts with respect to aesthetic or visual quality associated with the Project. The Project’s new construction at 30 feet would not exceed the City’s 50 foot height limit. The Project would clean-up and organize site layout and parking and afford indoor storage of items. Agriculture The Project would not adversely affect any existing agricultural operations. The Project site is not planned or zoned for agricultural use and is not in agricultural use. The Project would not impact agricultural resources individually or cumulatively. Air Quality The Project would not result in a significant impact to air quality and would not result in a cumulatively considerable net increase of criteria non-attainment pollutants (ozone precursors and PM10). The City’s building permit procedure captures the BAAQMD permitting regulations, as well as BAAQMD’s basic control measures. No mitigation measures, above those required by the City as a matter of law, are identified in this Initial Study. Greenhouse Gas The Project would not result in an impact or contribute to a cumulative impact with respect to greenhouse gas emissions or global climate change. Biology The Project would not result in a significant impact or significant unavoidable impact to biological resources individually or cumulatively. The Project is not located on ecologically sensitive lands, does not contain habitat and would have no impact on General Plan policies or ordinances protecting biological resources. 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-83 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST Cultural Resources The Project is located on a previously graded parcel and in a developed area. There are no historic, archaeological or paleontological resources or human remains located on the Project site. The Project would have no impacton cultural resources. Geology and Soils The Project site is not underlain by an earthquake fault and as such the potential for ground rupture is very low. Conformance with the 2010 California Building Code would reduce seismic shaking impacts to less than significant. The site soils are low in plasticity. Ground acceleration is in the mid-range (Type C/D soils, USGS). Site soils are considered low impact with respect to liquefaction. Subsidence would be considered negligible. The Project would not be connected to a septic system and as such would not contribute to ground failure. There is no threat of a major landslide on the site but there is minor sloughing on the northwest slope. Based on the analysis, the Project would have a less than significant impact with respect to Geology and Soils. Hazards and Hazardous Materials The Project site is appropriate for continued manufacturing use. The Project would not introduce fire, safety or hazardous materials risk into the area beyond that normally anticipated with a food manufacturing use land use. Moreover, no accidents or spills have been recorded on the site (Phase I ESA). The Project would not expose a school to the risk from hazardous materials; and would not result in an impact or contribute to a cumulative impact from hazardous materials exposure. Hydrology and Water Quality The City’s standard conditions of approval which implement state, federal and local regulations are required by law and are adequate to address any potential water quality impacts as a result of Project construction or occupation. No mitigation measures, above those required by the City as a matter of law, are identified in this Initial Study. The Project would not result in an impact or contribute to a cumulative impact to hydrology or water quality resources. Land Use and Planning TheProject would not physically divide an established community. The Project site is not in a conservation plan area, or under special study for conservation. The Project would not result in any individually or cumulatively considerable impacts. P3-84 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY C3: HAPTER ENVIRONMENTAL DETERMINATION Minerals The Project site does not contain any local or regionally significant mineral resources. The Project would not result in an impact or contribute to a cumulative impact to mineral resources. Noise The Project, existing, plus Project and cumulative noise environment is and would remain within the 60 to 65 dBA, CNEL and under the acceptable 75 dBA, CNEL for industrial land uses and 70 dBA, CNEL noise levels for commercial land uses. The Project would have a less than significant impact with respect to construction noise impacts. Population and Housing The Project would not exceed the development and growth assumptions contained in the General Plan. The Project does not contain housing and would not displace housing units or residents. The Project would have no impact on population or housing. Public Services The Project would not exceed the development and growth assumptions contained in the General Plan. School impact fees are collected by the City’s Building Division based upon the square footage of residential, commercial and industrial construction. These fees are used by the school districts for school services. Additional development on the Project site would not increase the demand for public services individually or cumulatively. Recreation Parks and recreational needs within the City are derived from the development assumptions contained in the South San Francisco General Plan. The Project is proposing development consistent with the General Plan employment projections. Therefore, the Project would not result in an individual or cumulatively considerable impact on parks and recreation. Traffic and Transportation The Project’s impact on local roadway traffic volumes would be de minimus. The Project would not alter site access and as such would not impact emergency access or introduce hazardous maneuvers or design features. The Project supports alternative transportation modes by implementation of the proposed Trip Reduction Program. The Project would have no impact on aircraft flyovers. 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCOP3-85 INITIAL STUDY AGE C3:EC HAPTERNVIRONMENTALHECKLIST Utilities The City’s wastewater treatment plant was upgraded in 2000-01 and has adequate capacity to treat Project wastes. The Project as a matter of law would be required to pay wastewater improvement fees. The UWMP was adopted in 2006 and adequate water is available for the Project. New construction will be regulated by BMPs, an improvement over existing conditions. The Project would not contribute individually or cumulatively to water, wastewater, stormwater and utility impacts. P3-86 250HILLSIDEBOULEVARD,SOUTHSANFRANCISCO–IS AGENITIALTUDY A APPENDIX A-1: Air Quality Assumptions and Methodologies (7 pages) A-2: URBEMIS and BAAQMD GHG Model Output (22 pages) APPENDIX A Appendix A-1 Assumptions and Methodologies Construction Activities The project would involve the construction of a building addition and parking. The project is designed to expand Gimbals Candies’ existing manufacturing facility at 250 Hillside Boulevard in South San Francisco, California. An 8,800 square foot addition to an existing 28,900 square foot building is being requested. Approximately 955 cubic yards of cut and fill is required. Grading and site preparation is anticipated to take approximately 8 weeks. Types of equipment on the site during this phase of construction would be a grader, skip loaded, front loader, standard asphalt paving equipment and excavator. Project construction would take approximately an additional six months to complete, for a total construction period of seven months. Types of equipment on the site during this phase of construction would be mobile cranes, haul trucks, concrete trucks delivery trucks and private vehicles. Construction emissions were estimated using the URBEMIS2007 model (Version 9.2.4). The model combines information on vehicle trip generation with equipment emissions data specific to the Air Basin with CARB’s OFFROAD and EMFAC emission models to estimate emissions. Operations Gimbal’s operates their business from two locations in South San Francisco. Candy production is at 250 Hillside Boulevard. The candy is transferred to 228 Shaw Road where it is packaged and distributed. There is an average of five truck trips running during week days between the two facilities as trucks take finished candy to Shaw and bring back raw ingredients (syrup and sugars), boxes and empty trays. In addition, three trucks of raw materials arrive at Hillside each week. With the proposed expansion, no change in the number of employees is anticipated for the first shift, while three additional employees could be needed for the second shift. With a full second shift, there would be no more than three additional truck trips between Hillside and Shaw. In summary, the operations would not change significantly at either site with the proposed expansion. The Proposed Project would also result in a slight increase in emissions associated with onsite stationary sources and area sources (i.e., natural gas combustion emissions from space and water heating, gasoline combustion emissions from landscape maintenance, etc.) and employee motor vehicles. URBEMIS2007 (based on a light industry and warehouse land use condition) was used to estimate emissions that would be associated with natural gas space and water heating, landscape maintenance, delivery trucks, and employee vehicles. The average daily round trip distance for the delivery trucks and employees was estimated at 7.4 and 9.5 miles, respectively. The delivery truck and employee trip distances were based on default information for San Mateo County with APPENDIX A URBEMIS. It is approximately two miles between the 250 Hillside Boulevard and 228 Shaw Road facilities. Health Risk Assessment A health risk assessment (HRA) is accomplished in four steps; hazards identification, exposure assessment, toxicity assessment, and risk characterization. This attachment describes the methodologies and assumptions that were used to execute each step and presents the detailed results of a HRA that was performed for the project. TERMS AND DEFINITIONS As the practice of conducting a HRA is particularly complex and involves concepts that are not altogether familiar to most people, several terms and definitions are provided that are considered essential to the understanding of the approach, methodology and results: Acute effect – a health effect (non-cancer) produced within a short period of time (few minutes to several days) following an exposure to toxic air contaminants (TAC). Cancer risk – the probability of an individual contracting cancer from a lifetime (i.e., 70 year) exposure to TAC in the ambient air. Chronic effect – a health effect (non-cancer) produced from a continuous exposure occurring over an extended period of time (weeks, months, years). Hazard Index (HI) – the unitless ratio of an exposure level over the acceptable reference dose (RfC). The HI can be applied to multiple compounds in an additive manner. Hazard Quotient (HQ) – the unitless ratio of an exposure level over the acceptable reference dose (RfC). The HQ is applied to individual compounds. Toxic air contaminants (TAC) – any air pollutant that is capable of causing short-term (acute) and/or long-term (chronic or carcinogenic, i.e., cancer causing) adverse human health effects (i.e., injury or illness). The current California list of TAC lists approximately 200 compounds, including particulate emissions from diesel-fueled engines. Human Health Effects - comprise disorders such as eye watering, respiratory or heart ailments, and other (i.e., non-cancer) related diseases. Health Risk Assessment (HRA) – an analysis designed to predict the generation and dispersion of TAC in the outdoor environment, evaluate the potential for exposure of human populations, and to assess and quantify both the individual and population-wide health risks associated with those levels of exposure. Incremental – under CEQA, the net difference (or change) in conditions or impacts when comparing the baseline to future year project conditions. Maximum exposed individual (MEI) – an individual assumed to be located at the point where the highest concentrations of TAC, and therefore, health risks are predicted to occur. Non-cancer risks – health risks such as eye watering, respiratory or heart ailments, and other non-cancer related diseases. APPENDIX A Receptors – the locations where potential health impacts or risks are predicted (schools, residences and work-sites). HAZARDS IDENTIFICATION TAC emissions associated with the project would occur from the following project activities: Off-road equipment and haul trucks during construction activities Delivery truck operations along nearby roadways and near the facility Diesel exhaust is a complex mixture of numerous individual gaseous and particulate compounds emitted from diesel-fueled combustion engines diesel particulate matter (DPM) is formed primarily through the incomplete combustion of diesel fuel. DPM is removed from the atmosphere through physical processes including atmospheric fall-out and washout by rain. Humans can be exposed to airborne DPM by deposition on water, soil, and vegetation; although the main pathway of exposure is inhalation. In August 1998, the California Air Resource Board (CARB) identified DPM as a TAC. The Risk Reduction Plan to Reduce Particulate Matter Emissions from Diesel- CARB developed Fueled Engines and VehiclesRisk Management Guidance for the Permitting of New and Stationary Diesel-Fueled Engines and approved these documents on September 28, 2000. The documents represent proposals to reduce DPM emissions, with the goal of reducing emissions and the associated health risk by 75 percent in 2010 and by 85 percent in 2020. The program aimed to require the use of state-of-the-art catalyzed DPM filters and ultra-low-sulfur diesel fuel. EXPOSURE ASSESSMENT Dispersion is the process by which atmospheric pollutants disseminate due to wind and vertical stability. The results of a dispersion analysis are used to assess pollutant concentrations at or near an emission source. The results of this analysis allow predicted concentrations of pollutants to be compared directly to air quality standards and other criteria such as health risks. Dispersion Modeling Approach This section presents the methodology used for the dispersion modeling analysis. This section addresses all of the fundamental components of an air dispersion modeling analysis including: Model selection and options Receptor locations Meteorological data Source release characteristics Model Selection and Options The AERMOD dispersion model (Version 09292) was used for the modeling analysis. AERMOD is the US EPA preferred dispersion model for general industrial sources. The model can simulate point, area, volume, and line sources. The AERMOD model is the appropriate model for this analysis based on the coverage of simple, intermediate, and complex terrain. It also predicts both APPENDIX A short-term and long-term (annual) average concentrations. The model was executed using the regulatory default options (stack-tip downwash, buoyancy-induced dispersion, and final plume rise), default wind speed profile categories, default potential temperature gradients, and no pollutant decay. The selection of the appropriate dispersion coefficients depends on the land use within three kilometers (km) of the project site. The land use typing was based on the classification method defined by Auer (1978); using pertinent United States Geological Survey (USGS) 1:24,000 scale (7.5 minute) topographic maps of the area. If the Auer land use types of heavy industrial, light-to- moderate industrial, commercial, and compact residential account for 50 percent or more of the Guideline on Air Quality Models total area, the EPA recommends using urban dispersion coefficients; otherwise, the appropriate rural coefficients were used. Based on observation of the area surrounding the project site, rural (urban is only designated within dense city centers such as San Francisco) dispersion coefficients were applied in the analysis. Receptor Locations Sensitive receptors such as residences, schools, offsite workers, and outdoor recreational areas near the project were chosen as the receptors to be analyzed. Receptors were placed at a height of 1.8 meters (typical breathing height). Residences are located to the northeast about 150 feet of the project site, while offsite worker receptors are generally located to the south of the project site. The Martin Elementary School is located to the west of the site. Terrain elevations for receptor locations were used (i.e., complex terrain) based on available USGS information for the area. Meteorological Data Air quality is a function of both the rate and location of pollutant emissions under the influence of meteorological conditions and topographic features affecting pollutant movement and dispersal. Atmospheric conditions such as wind speed, wind direction, atmospheric stability, and air temperature gradients interact with the physical features of the landscape to determine the movement and dispersal of air pollutants, and consequently affect air quality. Hourly meteorological data from San Francisco International Airport (surface data) and Oakland International Airport (upper air) were used in the dispersion modeling analysis. The data from 2005 through 2009 were used. Exhibit 1 within Attachment A displays the wind rose during this period. Wind directions are predominately from the west and there is a high frequency of calm and low wind conditions. Emissions Estimates The emissions from construction activities were derived from the URBEMIS2007 (Version 9.2.4) emission model. The emissions from delivery trucks and employee trips were derived from the EMFAC2007 emissions model. The DPM emissions are based on estimated daily delivery trucks trips for the baseline and proposed project. Trucks and employee trips were assigned a speed of 35 miles per hour. Source Release Characteristics APPENDIX A Construction equipment was treated as an area source within the facility expansion area. The release height of the off-road equipment exhaust was 3.05 meters. Delivery trucks and employee trips were treated as a line source (i.e., volume sources placed at regular intervals) located along the access road from/to Route 101. The delivery trucks were assigned a release height of 3.05 meters and an initial vertical dimension of 4.15 meters, which accounts for dispersion from the movement of vehicles. Terrain elevations for emission source locations were used (i.e., complex terrain) based on available USGS DEM for the area. AERMAP (Version 09040) was used to develop the terrain elevations, although the project site is generally flat. Dispersion Modeling Results Using AERMOD, the maximum annual and 70-year average annual concentrations were determined for DPM emissions for the emission sources of concern. These concentrations were estimated for a unit emission rate (1 gram per second) and adjusted based on the calculated emission rate. TOXICITY ASSESSMENT The HRA was conducted following methodologies in BAAQMD’s Health Risk Screening Analysis Guidelines and in the California Office of Environmental Health Hazard Assessment (OEHHA) guidelines. This was accomplished by applying the highest estimated concentrations at the receptors analyzed to the established cancer risk estimates and acceptable reference concentrations (RfC) for non-cancer health effects. The toxicity values used in this analysis were based on OEHHA guidance. These toxicity values are for carcinogenic effects and chronic health impacts. The primary pathway for exposures was assumed to be inhalation and carcinogenic and non-carcinogenic effects were evaluated separately. The incremental risks were determined for these sources of TAC as described above and summed to obtain an estimated total incremental carcinogenic health risk. th The 80 percentile adult breathing rate of 302 L/kg-day was used to determine cancer risks to residents from exposure to TAC. The residential exposure frequency and duration was assumed to be 350 days per year and 70 years. For school children, exposure is assumed to occur 10 hours per d weeks) per year. For children, OEHHA recommends assuming a breat day to assess potential risk via the inhalation exposure pathway upper 95 percentile of daily breathing rates for children. An adult breathing rate of 149 L/kg-day was used to determine cancer risks to workers from exposure to TAC. The worker exposure frequency and duration of 245 days per year and 40 years (at eight hours per day) was used. The modeled TAC concentrations were used to represent the exposure concentrations in the air. The inhalation absorption factor was assumed to be 1. APPENDIX A Cancer risk estimates also incorporate age sensitivity factors (ASFs). This approach provides updated calculation procedures that factor in the increased susceptibility of infants and children to carcinogens as compared to adults. OEHHA recommends that cancer risks be weighted by a factor of 10 for exposures that occur from the third trimester of pregnancy to 2 years of age, and by a factor of 3 for exposures from 2 years through 15 years of for residential receptors over a 70 year lifetime, the incorporation of the ASFs results in a cancer risk adjustment factor (CRAF) of 1.7. For offsite worker, the ASF is 1 and for school children the ASF is 3. RISK CHARACTERIZATION For the cancer risk assessment, emission rates were determined based on the average emission rate over the 70-year lifetime (i.e., the project emission rate divided by 70 years). However, for the chronic and acute health impacts, the maximum emission rate was used. In the case of DPM, these maximum emission rates occur in the beginning of the time Cancer risk is defined as the lifetime probability of developing cancer from exposure to carcinogenic substances. Cancer risks are expressed as the chance in one million of contracting cancer (i.e., number of cancer cases among one million people exposed). The cancer risk is the probability of an individual developing cancer as a result of exposure to air toxics. The cancer risks are assumed to occur exclusively through the inhalation pathway. The cancer risk based on a one-year exposure can be estimated by utilizing the cancer potency factor (mg/kg-day), the 70- 3 year annual average concentration (µg/m), and the lifetime exposure adjustment. The cancer risks occur exclusively through the inhalation pathway; therefore, the cancer risks can be estimated from the following equation: -6 Dose-inh = C * {DBR} * A * CRAF * EF * ED * 10 air AT Where: Dose-inh = Dose of the toxic substance through inhalation in kilogram (kg) of body weight per day (mg/kg-day) -6 10 = Micrograms to milligrams conversion, Liters to cubic meters conversion 3) C = Concentration in air (microgram (g)/cubic meter (m) air {DBR} = Daily breathing rate (liter (L)/kg body weight Î day) A = Inhalation absorption factor CRAF = Cancer Risk Adjustment Factor, Age Sensitivity Factor EF = Exposure frequency (days/year) ED = Exposure duration (years) AT = Averaging time period over which exposure is averaged in (25,550 days for a 70 year cancer risk) Non-cancer adverse health impacts, acute (short-term) and chronic (long-term), are measured against a hazard index (HI), which is defined as the ratio of the predicted incremental exposure concentration from the project to a published reference exposure level (REL) that could cause APPENDIX A adverse health effects as established by OEHHA. The ratio (referred to as the Hazard Quotient [HQ]) of each non-carcinogenic substance that affects a certain organ system is added to produce an overall HI for that organ system. The overall HI is calculate overall HI for the highest-impacted organ system is greater than one, then the impact is considered to be significant. The Hazard Index is an expression used for the potential for non-cancer health effects. The 3 relationship for the non-cancer health effects is given by the annual concentration (µg/m) and the 3 Reference Exposure Level (µg/m). The acute hazard index was determined using the ÐsimpleÑ concurrent maximum approach, which tends to be conservative (i.e., overpredicts). The relationship for the non-cancer health effects is given by t HI = C/REL where, HI Hazard index; an expression of the potential for non-cancer health effects. 3 C Annual average concentration (g/m) during the 70 year exposure period REL Reference exposure level (REL); the concentration at which no adverse health effects are anticipated. The chronic reference exposure level for DPM was established by the California OEHHA as 5 3 g/m. CUMULATIVE ANALYSIS For the cumulative impacts from Route 101, the peak hourly and average annual daily traffic (AADT) data were developed from CalTrans measurements for 2007 and 2008 at the Route 101 and Route 380 interchange. In 2008, the peak hourly volumes were 704 for trucks and 16,000 for all vehicles. In 2008, the AADT was 10,120 for trucks and 230,000 for all vehicles. In 2007, the percentage of vehicles classified as trucks was 4.4 percent. Growth factors were applied to estimate future volumes for the 70-year lifetime cancer risk impacts. The cumulative impacts were based on daily operational hourly volumes for each hour during an annual average day. Thus, the cumulative analysis estimates the peak hourly impacts and the average annual impacts. The analysis was conducted Recommended Methods for Screening and Modeling Local Risks and according to BAAQMDÓs Hazards (dated May 2010). APPENDIX A Appendix A-2 URBEMIS and BAAQMD GHG Model Output URBEMIS Annual Output (6 page) URBEMIS Summer Output (6 page) URBEMIS Winter Output (6 page) BAAQMD GHG Model Output (4 pages) APPENDIX A RESOLUTION NO. DRAFT 9/28/11 CITY COUNCIL, CITY OF SOUTH SAN FRANCISCO, STATE OF CALIFORNIA A RESOLUTION APPROVING THE CONFERENCE CENTER FISCAL YEAR 2011-2012 BUDGET WHEREAS, South San Francisco Municipal Code §2.78.010 et seq. requires that the Conference Center budget be approved by the City Council; and WHEREAS, the Conference Center Authority has conducted public meetings, considered available public input, and reviewed the Fiscal Year 2011-2012 budget; and WHEREAS, the Authority found that the budget represented the appropriate level of expenditures for Fiscal Year 2011-2012 and recommended that the proposed budget be approved by the City Council. NOW, THEREFORE, BE IT RESOLVED by the City Council of the City of South San Francisco as follows: 1. The budget identified as the "Conference Center Fiscal Year 2011-2012 Operating Budget" in the amount of $3,280,000 in revenue and $3,040,717 in expenditures is hereby approved by the City Council. 2. The budget identified as the “Conference Center Fiscal Year 2011-2012 Capital Improvement Budget” in the amount of $64,060 in capital expenditures is hereby approved by the City Council. 3. Each budget category listed in Municipal Code §2.78.106 is funded to the limits specified in the proposed budget. 4. The funds collected pursuant to Municipal Code §4.20.035 are hereby appropriated to fund the Conference Center budget. 5. The City Manager and Finance Director are hereby directed and authorized to make the specified funds available to the Conference Center. 6. Copies of the Conference Center budget shall be made available for public review and inspection in the Offices of the City Clerk and Administrative Offices of the Conference Center. * * * * * * I hereby certify that the foregoing Resolution was regularly introduced and adopted by the City Council of the City of South San Francisco at a meeting held on the day of , 2011 by the following vote: AYES: ________________________________________________________________ ______________________________________________________________________ NOES:________________________________________________________________ ABSTAIN:_____________________________________________________________ ABSENT:______________________________________________________________ ATTEST: SOUTH SAN FRANCISCO CONFERENCE CENTER AUTHORITY FISCAL YEAR 2011-2012 BUDGET September 28, 2011 As Recommended by the Conference Center Authority July 18, 2011 South San Francisco Conference Center Fiscal Year 2011-12 Budget Revenue and Expenditure Projections - All Sources FY 11-12FY 10-11FY 10-11 Budget RequestApproved Budget Year-End Projection Total Revenue 3,144,6793,280,000 3,252,310 Total Expenditures 3,093,6513,040,717 3,019,252 Surplus 51,029239,282 233,058 209/28/11 South San Francisco Conference Center Fiscal Year 2011-2012 Budget Revenue Projections - All Sources FY 11-12FY 10-11FY 10-11% change % of Year End Budget RequestApproved Budget Year-End ProjectionBudget Request toProjection to Approved BudgetTo Approved Budget Conference Center Operations1,295,000 1,275,000 1,256,078 1.57%99% Transient Occupancy 1,860,6791,955,000 1,970,232 5.07%106% Tax Interest Income30,000 9,000 26,000 233.33%289% Total3,280,000 3,144,679 3,252,310 4.30%103% Expenditure Projections - All Sources FY 11-12FY 10-11FY 10-11% change % of Year End Budget RequestApproved Budget Year-End ProjectionBudget Request toProjection to Approved BudgetTo Approved Budget Conference Center Operations2,094,269 2,134,708 2,060,309 -1.89%97% Debt Service468,350 467,675 467,675 0.14%100% Propert Leases/Tax 491,268478,098 491,268 ye -2.68%100% Total3,040,717 3,093,651 3,019,252 -1.71%98% 39/28/11 South San Francisco Conference Center Fiscal Year 2011-2012 Budget Revenue Projections-Conference Center Operations FY 11-12FY 10-11FY 10-11% change % of Year End Budget RequestApproved Budget Year-End ProjectionBudget Request toProjection to Approved BudgetTo Approved Budget Rent690,000 720,000 655,937 -4.17%91% Food & Beverage440,000 420,000 434,655 4.76%103% Event Services165,000 135,000 165,486 22.22%123% Total1,295,000 1,275,000 1,256,078 1.57%99% 49/28/11 South San Francisco Conference Center Fiscal Year 2011-2012 Budget Expenditure Budget Conference Center Operations FY 11-12FY 10-11FY 10-11% change% of Year End Budget RequestApproved BudgetYear-End ProjectionBudget Request toProjection Approved BudgetTo Approved Budget Salaries/Benefits Salaries907,345 889,561 889,561 2.0%100% Car Allowance2,400 2,400 2,400 0.0%100% Workers' Compensation2,500 2,500 500 0.0%20% Health, Dental, Vision, LTD, STD196,460 196,460 196,460 0.0%100% Pension, Medicare FICA113,551 111,374 111,374 2.0%100% 1,202,2951,222,256 1,200,295 1.7%100% Operations/Maintenance Services Set Up/Tear Down Service108,000 108,000 108,000 0.0%100% Janitorial Service87,000 93,000 86,600 -6.5%93% Transportation Service5,500 4,500 4,920 22.2%109% Linen/Water Service21,500 18,500 21,500 16.2%116% Temporary Event Labor55,000 55,000 58,000 0.0%105% Electr/Plum/HVAC Main. Service32,000 32,000 30,000 0.0%94% Pest Control3,200 3,200 3,000 0.0%94% Fire Extinguisher/Alarm Service2,500 3,800 2,000 -34.2%53% Landscape Service18,500 18,500 18,000 0.0%97% 336,500333,200 332,020 -1.0%99% Operation/Maintenance Supplies Janitorial Supplies11,500 14,000 11,500 -17.9%82% Operations Supplies20,000 25,000 16,000 -20.0%64% 39,00031,500 27,500 -19.2%71% Marketing Services Ad Production/Placement122,500 122,500 100,656 0.0%82% Public Relations5,000 8,000 3,064 -37.5%38% Client Entertainment5,500 4,500 5,106 22.2%113% Client Gifts6,000 5,200 4,900 15.4%94% Booth Rental & Equipment Fee4,500 5,300 3,600 -15.1%68% Industry Event Registration5,500 3,000 5,204 83.3%173% Group Incentive Rentals7,500 7,500 3,000 0.0%40% 156,000156,500 125,530 0.3%80% Meeting Travel/Dues/Memberships Dues/Memberships5,500 5,000 5,020 10.0%100% Meeting Travel Expense13,000 8,000 11,220 62.5%140% 13,00018,500 16,240 42.3%125% Legal/Professional Services Legal Services9,000 12,000 4,500 -25.0%38% Professional Services70,000 123,000 112,551 -43.1%92% 135,00079,000 117,051 -41.5%87% 59/28/11 Expenditure Budget Conference Center Operations Detail FY 11-12FY 10-11FY 10-11% change% of Year End Budget RequestApproved BudgetYear-End ProjectionBudget Request toProjection Approved BudgetTo Approved Budget Audit/Payroll Services17,000 17,000 16,250 0.0%96% City Finance Services13,390 13,390 13,900 0.0%104% General Insurance Property Insurance14,055 14,055 14,055 0.0%100% Liability Insurance14,468 14,468 14,468 0.0%100% 28,52328,523 28,523 0.0%100% Bank Charges/Bad Debt Bank Charges32,000 35,000 32,000 -8.6%91% 6,0006,000 Bad Debt 0.0%0%- 41,00038,000 32,000 -7.3%78% Office Machines/Publication/Supplies Postage/Rental Equipment Office Machines12,500 12,500 12,500 0.0%100% Computer Supplies6,000 3,500 2,500 71.4%71% Office Supplies/Water4,000 3,500 4,200 14.3%120% Postage2,600 3,500 2,600 -25.7%74% 23,00025,100 21,800 9.1%95% Printing3,500 4,000 3,200 -12.5%80% Utilities Gas/Electric98,800 98,000 98,800 0.8%101% Telephone/Long Distance17,500 17,500 15,700 0.0%90% Water11,500 10,500 11,500 9.5%110% 126,000127,800 126,000 1.4%100% 2,134,7082,094,269 2,060,309 -1.89%97% 69/28/11 South San Francisco Conference Center Fiscal Year 2011-12 Budget Capital Improvement Budget 1Replace all Flourscent Bulb Ballasts as part of Energy Efficiency Upgrades23,182$ 2Replace Compressor for Walk-in Cooler/Freezer4,055$ 3Replace storm-damaged awning at the rear entry of the building 2,375$ 4Purchase Racks for Eight (8) Bicycles1,149$ 5Add Horns and Strobes to Fire Alarm System as required by the 20,000$ South San Francisco Fire Department 6Replace one HVAC unit$6,298 7$7,000 Purchase Five (5) Defibrillators TOTAL $64,060 7 9/28/11 South San Francisco Conference Center Fiscal Year 2011-12 Budget Unrestricted Fund Balance/Designated/Undesignated Reserves Ending Unrestricted Fund Balance1,710,725$ 6/30/10 per Audit Plus Projected FY 2010-11 Surplus233,058$ Less FY 2010-2011 Capital Expenditures(67,172)$ Projected Unrestricted Fund Balance 6/30/111,876,611$ Plus Projected FY 2011-2012 Surplus 239,282$ Less FY 2011-12 Capital Expenditures(64,060)$ Projected Unrestricted Fund Balance 6/30/122,051,833$ Authority Designated Reserves *500,000$ Projected Undesignated Reserves1,551,833$ Projected Fund Balance 6/30/12$ 2,051,833 * Designated Reserve Categories Capital Improvements100,000$ Insurance100,000$ Debt. Service150,000$ Contingencies150,000$ Total500,000$ 89/28/11 SOUTH SAN FRANCISCO CONFERENCE CENTER Salary Schedule effective July 1, 2011 Sales Assistant Sales Assistant (Carol Norcia) 1/1/06 Hourly 24 @ 2,176.2052,228.8025.11 Semi-Monthly2,176.20 Monthly4,352.40 Senior Sales Manager (Teresa Martinez)Senior Sales Manager 10/16/98 Hourly 24 @ 3148.5775,565.6836.33 Semi-Monthly3,148.57 Monthly6,297.13 Director of Sales (Dean Grubl)Director of Sales 4/1/00 Hourly 24 @ 3,967.1295,210.7645.77 Semi-Monthly3,967.12 Monthly7,934.23 Security Officer (2) (Tully Mortenson, Conrado Zulaybar)Security Officer (2) 7/1/02 Hourly 24 @ 1,352.5232,460.4815.61 Semi-Monthly1,352.52 32,460.48 Monthly2,705.04 Security Supervisor (Tofa C Talauat)Security Supervisor 7/1/02 Hourly 24 @ 1,983.7647,609.4022.89 Semi-Monthly1,983.73 Monthly3,967.45 Facility Service Coordinator (Austin Middleton)Facility Service Coordinator 7/16/97 Hourly 24 @ 2,176.2052,228.8025.11 Semi-Monthly2,176.20 Monthly4,352.40 Director of Facility Service (Jorge Cruz)Director of Facility Services 7/1/93 Hourly 24 @ 3,642.9987,431.7641.21 Semi-Monthly3,642.99 Monthly7,285.98 Administrative Service Assistant (Earsie Johnson)Administrative Service Assista 8/1/99 Hourly 24 @ 2,600.8762,420.8030.01 Semi-Monthly2,600.87 Monthly5,201.74 Director of Event Services (Ted Luff)Director of Event Services 4/1/98 Hourly 24 @ 3,715.8589,180.4042.88 Semi-Monthly3,715.85 Monthly7,431.70 Controller (Faina Vinarskaya)Controller 5/1/98 Hourly 24 @ 3,967.1295,210.7645.77 Semi-Monthly3,967.12 Monthly7,934.23 Executive Director (Sandra O'Toole)Executive Director 9/1/90 Hourly 26 @ 6988.57185,336.8489.10 Biweekly7,270.91 Monthly15,444.74 Total907,344.96 99/28/11 SOUTH SAN FRANCISCO CONFERENCE CENTER AUTHORITY FISCAL YEAR 2011-2012 BUDGET Explanations of Changes September 28, 2011 Revenue and Expenditure Projections - All Sources - Pages 2 and 8 A surplus of revenue over expenses in the amount of $239,282 is projected. This contributes to the fund balance and provides for capital improvements. The projected Fund Balance at June 30, 2011 is $1,876,611. The budgeted surplus for FY 2010-11 was $51,029, however, the year-end projection of $233,058 is more than budgeted. Revenue Projections - All Sources - Pages 3 and 4 Conference Center Operations - A 1.57% increase is projected from the FY 2010-11 budget and a 3.09% increase is projected from FY 2010-11 year-end projection. The economy is still affecting the Conference Center’s business; however, 99% of the FY 2010- 11 budget projection was met. Food and event services revenue was greater than budgeted but rental revenue was less. The FY 2011-12 projections are anticipated to be met based on the level of confirmed business. Transient Occupancy Tax - An occupancy rate of 75% is projected. It is anticipated that FY 2010-11 year-end occupancies will be approximately 75% which is an improvement from the budgeted 70%. Interest Income - Interest income has increased due to a different investment mechanism for the debt service reserves. 4.30% increase projected from FY 2010-11 budget and .85% increase projected from FY 2010-11 year-end projection. Expenditure Projections - All Sources - Page 3 Conference Center Operations- 1.89% decrease projected from FY 2010-11 budget and a very slight increase projected from FY 2010-11 year-end projection. Please see the Operations Detail section for explanations. Debt Service - Amounts reflect a continuation budget. Property Leases/Taxes - Amounts reflect a continuation budget with a decrease in the sewer charges. 1.71% decrease projected from FY 2010-11 budget and very slight increase projected from FY 2010-11 year-end projection. Expenditure Projections - Conference Center Operations Pages 5 and 6 All operating areas reflect the level of projected business. A two (2) percent cost-of-living increase for all employees has been included. Funds have been budgeted to produce a new website design, mobile website, and all the online and print collateral materials to reflect the new design. The meeting travel expenses have been increased to reflect our participation at events in which meeting planners make appointments with the Conference Center sales staff to discuss their needs. These type of events are increasing and are proving much more worthwhile to our sales efforts than events with traditional trade shows. Trade show booth costs have decreased as a result. Capital Improvements Budget - Page 7 The Capital Improvement Budget lists projects which require code upgrades, environmentally-positive improvements, purchase of life-safety equipment, replacement of worn equipment, or replacement of a storm-damaged exterior awning. Of note is the project in which San Mateo County Energy Watch is working with the Conference Center. Every florescent bulb ballast in the building, with the exception of the Oyster Point Room, will be replaced with new, energy efficient bulb housing. The total cost of the project is $54,861; however, San Mateo County Energy Watch will rebate $31,678.58 of the total cost. The Conference Center’s budgeted portion is $23,182, which is reflected in the Capital Improvement Budget. The estimated cost savings annually is $15,264; so with a year and a half of savings, our portion of the cost will be recovered. No cost savings have been reflected in the operating budget as the exact timeline of the project is not yet known. The Capital Improvement Budget reflects the Authority’s continued commitment to making annual capital improvements to the Conference Center so no single year requires an excessive amount of funds to be budgeted. 09/28/11