HomeMy WebLinkAboutCommunity Civic Center Final SEIR Appendices
APPENDICES
APPENDIX A – MMRP
MITIGATION MONITORING AND REPORTING PROGRAM
City of South San Francisco Community Civic Campus Project
October 2017 Final SEIR
1
SOUTH SAN FRANCISCO COMMUNITY CIVIC CAMPUS PROJECT FINAL EIR MITIGATION
1. STATUTORY REQUIREMENT
When a lead agency makes findings on significant environmental effects identified in an
environmental impact report (EIR), the agency must also adopt a “reporting or monitoring
program for the changes to the project which it has adopted or made a condition of approval
in order to mitigate or avoid significant effects on the environment” (Public Resources Code
Section 21081.6(a) and California Environmental Quality Act Guidelines Section 15091(d) and
Section 15097). The Mitigation Monitoring and Reporting Program (MMRP) is implemented to
ensure that the mitigation measures and project revisions identified in the EIR are implemented.
Therefore, the MMRP must include all changes in the proposed project either adopted by the
project proponent or made conditions of approval by the lead agency or a responsible agency.
2. ADMINISTRATION OF THE MITIGATION MONITORING AND REPORTING PROGRAM
The City of South San Francisco (city) is the lead agency responsible for the adoption of the
MMRP. The city, as the lead agency, is responsible for implementing, verifying, and documenting
compliance with the MMRP, in coordination with other identified agencies. According to CEQA
Guidelines Section 15097(a), a public agency may delegate reporting or monitoring
responsibilities to another public agency or to a private entity that accepts the delegation.
However, until mitigation measures have been completed, the lead agency remains responsible
for ensuring that implementation of the measures occurs in accordance with the program.
Verification of mitigation compliance and responsibility for compliance is the responsibility of the
city project manager. The project manager will be responsible for coordinating plan reviews and
field verification with the appropriate city staff or outside agencies.
3. MITIGATION MEASURES AND REPORTING PROGRAM
Table 1 is structured to enable quick reference to mitigation measures and the associated
monitoring program based on the environmental resource. The numbering of mitigation
measures correlates with the numbering of measures found in the Impact Analysis chapters of
the Draft SEIR.
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APPENDIX B – PUBLIC REVIEW DRAFT SEIR
SCH # 1996032052
DRAFT SUBSEQUENT
ENVIRONMENTAL IMPACT REPORT
FOR THE COMMUNITY
CIVIC CAMPUS PROJECT
City of South San Francisco
Prepared by:
July 2017
1 Kaiser Plaza
Suite 1150
Oakland, CA 94612
TABLE OF CONTENTS
South San Francisco Community Civic Campus Project
June 2017 Draft SEIR
i
0.0 ES EXECUTIVE SUMMARY
ES.1 Purpose and Scope of the Subsequent Environmental Impact Report ................. ES-1
ES.2 Project Characteristics .................................................................................................... ES-1
ES.3 Project Alternatives Summary ........................................................................................ ES-2
ES.4 Notice of Preparation ..................................................................................................... ES-2
ES.5 Summary of Environmental Impacts ............................................................................. ES-3
1.0 INTRODUCTION
1.1 Purpose of the Draft SEIR ............................................................................................... 1.0-1
1.2 Type of Document ......................................................................................................... 1.0-1
1.3 Intended Use of the SEIR ................................................................................................ 1.0-2
1.4 Organization and Scope ............................................................................................... 1.0-2
1.5 Environmental Review Process ..................................................................................... 1.0-4
1.6 Comments Received on the Notice of Preparation ................................................ 1.0-5
2.0 PROJECT DESCRIPTION
2.1 Regional and Local Setting ........................................................................................... 2.0-1
2.2 Existing Conditions .......................................................................................................... 2.0-1
2.3 Project Background ....................................................................................................... 2.0-8
2.4 Project Description ......................................................................................................... 2.0-8
2.5 Project Objectives ........................................................................................................ 2.0-16
2.6 Relationship of Project to Other Plans ....................................................................... 2.0-16
2.7 Project Approvals ......................................................................................................... 2.0-16
2.8 References ..................................................................................................................... 2.0-17
3.0 LESS THAN SIGNIFICANT IMPACTS
3.0.1 Introduction ..................................................................................................................... 3.0-1
3.0.2 Environmental Analysis .................................................................................................. 3.0-1
3.0.3 References ..................................................................................................................... 3.0-11
3.1 AESTHETICS
3.1.1 SEIR Impact Summary .................................................................................................... 3.1-1
3.1.2 Existing Setting ................................................................................................................. 3.1-1
3.1.3 Regulatory Framework ................................................................................................... 3.1-3
3.1.4 Impacts and Mitigation Measures ............................................................................... 3.1-6
3.1.5 Cumulative Setting, Impacts, and Mitigation Measures ........................................ 3.1-10
3.1.6 References ..................................................................................................................... 3.1-11
TABLE OF CONTENTS
Community Civic Campus Project South San Francisco
Draft SEIR July 2017
ii
3.2 AIR QUALITY
3.2.1 SEIR Impact Summary .................................................................................................... 3.2-1
3.2.2 Existing Setting ................................................................................................................. 3.2-1
3.2.3 Regulatory Framework ................................................................................................... 3.2-7
3.2.4 Impacts and Mitigation Measures ............................................................................. 3.2-17
3.2.5 Cumulative Setting, Impacts, and Mitigation Measures ........................................ 3.2-27
3.2.6 References ..................................................................................................................... 3.2-29
3.3 BIOLOGICAL RESOURCES
3.3.1 SEIR Impact Summary .................................................................................................... 3.3-1
3.3.2 Existing Setting ................................................................................................................. 3.3-1
3.3.3 Regulatory Framework ................................................................................................... 3.3-7
3.3.4 Impacts and Mitigation Measures ............................................................................. 3.3-10
3.3.5 Cumulative Setting, Impacts, and Mitigation Measures ........................................ 3.3-19
3.3.6 References ..................................................................................................................... 3.3-21
3.4 CULTURAL RESOURCES
3.4.1 SEIR Impact Summary .................................................................................................... 3.4-1
3.4.2 Existing Setting ................................................................................................................. 3.4-2
3.4.3 Regulatory Framework ................................................................................................... 3.4-6
3.4.4 Impacts and Mitigation Measures ............................................................................... 3.4-9
3.4.5 Cumulative Setting, Impacts, and Mitigation Measures ........................................ 3.4-13
3.4.6 References ..................................................................................................................... 3.4-15
3.5 GEOLOGY AND SOILS
3.5.1 SEIR Impact Summary .................................................................................................... 3.5-1
3.5.2 Existing Setting ................................................................................................................. 3.5-1
3.5.3 Regulatory Framework ................................................................................................... 3.5-4
3.5.4 Impacts and Mitigation Measures ............................................................................... 3.5-5
3.5.5 Cumulative Setting, Impacts, and Mitigation Measures ........................................ 3.5-10
3.5.6 References ..................................................................................................................... 3.5-11
3.6 GREENHOUSE GAS EMISSIONS
3.6.1 SEIR Impact Summary .................................................................................................... 3.6-1
3.6.2 Existing Setting ................................................................................................................. 3.6-1
3.6.3 Regulatory Framework ................................................................................................... 3.6-7
TABLE OF CONTENTS
South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
iii
3.6.4 Impacts and Mitigation Measures ............................................................................. 3.6-15
3.6.5 References ..................................................................................................................... 3.6-22
3.7 HAZARDS AND HAZARDOUS MATERIALS
3.7.1 SEIR Impact Summary .................................................................................................... 3.7-1
3.7.2 Existing Setting ................................................................................................................. 3.7-1
3.7.3 Regulatory Framework ................................................................................................... 3.7-3
3.7.4 Impacts and Mitigation Measures ............................................................................... 3.7-5
3.7.5 Cumulative Setting, Impacts, and Mitigation Measures ........................................ 3.7-10
3.7.6 References ..................................................................................................................... 3.7-11
3.8 HYDROLOGY AND WATER QUALITY
3.8.1 SEIR Impact Summary .................................................................................................... 3.8-1
3.8.2 Existing Setting ................................................................................................................. 3.8-1
3.8.3 Regulatory Framework ................................................................................................... 3.8-3
3.8.4 Impacts and Mitigation Measures ............................................................................... 3.8-6
3.8.5 Cumulative Setting, Impacts, and Mitigation Measures .......................................... 3.8-9
3.8.6 References ..................................................................................................................... 3.8-10
3.9 NOISE
3.9.1 SEIR Impact Summary .................................................................................................... 3.9-1
3.9.2 Existing Setting ................................................................................................................. 3.9-1
3.9.3 Regulatory Framework ................................................................................................. 3.9-10
3.9.4 Impacts and Mitigation Measures ............................................................................. 3.9-15
3.9.5 Cumulative Setting, Impacts, and Mitigation Measures ........................................ 3.9-23
3.9.6 References ..................................................................................................................... 3.9-25
3.10 TRANSPORTATION AND CIRCULATION
3.10.1 SEIR Impact Summary .................................................................................................. 3.10-1
3.10.2 Existing Setting ............................................................................................................... 3.10-1
3.10.3 Regulatory Framework ............................................................................................... 3.10-13
3.10.4 Impacts and Mitigation Measures ........................................................................... 3.10-22
3.10.5 Cumulative Setting, Impacts, and Mitigation Measures ...................................... 3.10-35
3.10.6 References ................................................................................................................... 3.10-44
TABLE OF CONTENTS
Community Civic Campus Project South San Francisco
Draft SEIR July 2017
iv
3.11 UTILITIES AND SERVICE SYSTEMS
3.11.1 SEIR Impact Summary .................................................................................................. 3.11-1
3.11.2 Existing Setting ............................................................................................................... 3.11-1
3.11.3 Regulatory Framework ................................................................................................. 3.11-5
3.11.4 Impacts and Mitigation Measures ............................................................................. 3.11-8
3.11.5 Cumulative Setting, Impacts, and Mitigation Measures ...................................... 3.11-12
3.11.6 References ................................................................................................................... 3.11-14
4.0 ALTERNATIVES
4.1 Introduction ..................................................................................................................... 4.0-1
4.2 Alternatives Under Consideration ................................................................................ 4.0-2
4.3 Alternative 1 – No Project Alternative ........................................................................ 4.0-2
4.4 Alternative 2 – Surface Parking Only ......................................................................... 4.0-14
4.5 Alternative 3 – Underground Parking Alternative .................................................... 4.0-27
4.6 Comparison of Alternatives ........................................................................................ 4.0-40
5.0 – OTHER CEQA ANALYSES
5.1 Significant Unavoidable Impacts ................................................................................. 5.0-1
5.2 Growth Inducing Impacts ............................................................................................. 5.0-1
5.3 Significant Irreversible Environmental Changes ......................................................... 5.0-2
5.4 Energy Consumption...................................................................................................... 5.0-3
5.5 References ..................................................................................................................... 5.0-10
6.0 – REPORT PREPARERS
TABLES
Table ES-1 Project Impacts and Proposed Mitigation Measures ................................................ ES-5
Table 2.0-1 Existing Land Uses ........................................................................................................... 2.0-7
Table 2.0-2 Community Civic Campus Elements ......................................................................... 2.0-11
Table 2.0-3 Construction Phasing and Actions ............................................................................ 2.0-15
Table 3.2-1 Criteria Air Pollutants Summary of Common Sources and Effects .......................... 3.2-4
Table 3.2-2 Summary of Ambient Air Quality Data ........................................................................ 3.2-5
Table 3.2-3 Federal and State Ambient Air Quality Attainment Status for
the San Francisco Bay Area Air Basin ......................................................................... 3.2-6
Table 3.2-4 Air Quality Standards ..................................................................................................... 3.2-9
Table 3.2-5 Recommendation on Siting New Sensitive Land
Uses Near Air Pollutant Sources .................................................................................. 3.2-11
Table 3.2-6 BAAQMD Basic and Additional Construction Mitigation Measures ..................... 3.2-13
TABLE OF CONTENTS
South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
v
Table 3.2-7 BAAQMD Significance Thresholds .............................................................................. 3.2-19
Table 3.2-8 Construction-Related Criteria Pollutant and Precursor Emissions –
Unmitigated (Maximum Pounds per Day) ................................................................ 3.2-22
Table 3.2-9 Construction-Related Criteria Pollutant and Precursor
Emissions – Mitigated (Maximum Pounds per Day) ................................................. 3.2-22
Table 3.2-10 Long-Term Operational Emissions .............................................................................. 3.2-23
Table 3.4-1 Cultural Resource Studies within one Quarter-Mile Radius ...................................... 3.4-5
Table 3.5-1 Modified Mercalli Intensity Scale ................................................................................. 3.5-3
Table 3.6-1 Greenhouse Gases ......................................................................................................... 3.6-2
Table 3.6-2 Global Warming Potential for Greenhouse Gases .................................................... 3.6-3
Table 3.6-3 Potential Statewide Impacts from Climate Change ................................................ 3.6-5
Table 3.6-4 California State Climate Change Legislation ............................................................ 3.6-9
Table 3.6-5 Construction-Related Greenhouse Gas Emissions (Metric Tons per Year) .......... 3.6-18
Table 3.6-6 Operations-Related Greenhouse Gas Emissions (Metric Tons per Year) ............. 3.6-18
Table 3.6-7 Project GHG Emissions Per Service Population ........................................................ 3.6-19
Table 3.9-1 Definitions of Acoustical Terms ..................................................................................... 3.9-6
Table 3.9-2 Human Reaction and Damage to Buildings for Continuous
or Frequent Intermittent Vibration Levels .................................................................... 3.9-8
Table 3.9-3 Existing Traffic Noise Levels .......................................................................................... 3.9-10
Table 3.9-4 Land Use Criteria for Noise-Impacted Areas ............................................................ 3.9-12
Table 3.9-5 Typical Construction Noise Levels .............................................................................. 3.9-17
Table 3.9-6 Future Project Traffic Noise Levels .............................................................................. 3.9-19
Table 3.9-7 Cumulative Noise Scenario ......................................................................................... 3.9-24
Table 3.10-1 Signalized and Unsignalized Intersection LOS Definitions ....................................... 3.10-6
Table 3.10-2 Freeway LOS Definitions ............................................................................................... 3.10-7
Table 3.10-3 Existing Intersection LOS Summary ............................................................................. 3.10-8
Table 3.10-4 Existing Conditions Highway Segment LOS ............................................................ 3.10-13
Table 3.10-5 ECR/C Intersection Transportation Impacts ........................................................... 3.10-25
Table 3.10-6 Existing and Existing plus Project Intersection Levels of Service .......................... 3.10-27
Table 3.10-7 Existing and Existing plus Project Highway Segment LOS ..................................... 3.10-32
Table 3.10-8 ECR/C Intersection Transportation Impacts ........................................................... 3.10-36
Table 3.10-9 Cumulative (2030) plus Project Intersection Levels of Service ............................ 3.10-39
Table 3.10-10 Cumulative (2030) and Cumulative (2030) plus Project
Highway Segment LOS. ............................................................................................. 3.10-43
Table 4.0-1 Summary Comparison of Project Objectives ........................................................... 4.0-41
Table 4.0-2 Summary Comparison of Environmental Impacts of Alternatives ........................ 4.0-42
Table 5.0-1 Nonresidential Electricity Consumption in San Mateo County 2012–2015 ............ 5.0-4
Table 5.0-2 Nonresidential Natural Gas Consumption in San Mateo County 2012–2015........ 5.0-4
Table 5.0-3 Annual Automotive Fuel Consumption in San Mateo County 2012–2017 ............ 5.0-4
Table 5.0-4 Proposed Project Energy Consumption ...................................................................... 5.0-8
TABLE OF CONTENTS
Community Civic Campus Project South San Francisco
Draft SEIR July 2017
vi
FIGURES
Figure 2.0-1 Regional Vicinity Map .................................................................................................... 2.0-3
Figure 2.0-2 Project Location .............................................................................................................. 2.0-5
Figure 2.0-3 Proposed Project ............................................................................................................ 2.0-9
Figure 2.0-4 Proposed Land Use Changes ..................................................................................... 2.0-13
Figure 3.3-1 Vegetation Communities/Land Uses ........................................................................... 3.3-3
Figure 3.3-2 Occurrences of Special-Status Species within
One-mile of the Project Site ........................................................................................ 3.3-13
Figure 3.9-1 Typical Community Noise Levels .................................................................................. 3.9-3
Figure 3.10-1 Study Intersections ........................................................................................................ 3.10-9
Figure 3.10-2 TIA Study Intersections Lane Configurations .......................................................... 3.10-11
Figure 3.10-3 Existing Plus Project Conditions ................................................................................. 3.10-29
Figure 3.10-4 Cumulative Plus Project Conditions ......................................................................... 3.10-37
Figure 4.0-1 Alternative 2 Site Plan .................................................................................................. 4.0-15
Figure 4.0-2 Alternative 3 Site Plan .................................................................................................. 4.0-29
APPENDICES
Appendix AIR – Air Quality Analysis
Appendix BIO – Biological Resources Report
Appendix CUL – Cultural Resources Report
Appendix EIR – ECR/C Draft and Final EIR
Appendix HAZ – Phase I Environmental Site Assessment
Appendix NOI – Noise Analysis
Appendix NOP – Notice of Preparation (NOP) and comments received on the NOP
Appendix TRA – Transportation Impact Analysis
ACRONYMS AND ABBREVIATIONS
AB Assembly Bill
ABAG Association of Bay Area Governments
ACM asbestos-containing materials
ADA Americans with Disabilities Act
ADWF average dry weather flow
AIP Airport Improvement Program
ALUCP Airport Land Use Compatibility Plan
AWSC All-way stop-controlled
BAAQMD Bay Area Air Quality Management District
BART Bay Area Rapid Transit
BCDC San Francisco Bay Area Conservation and Development Commission
TABLE OF CONTENTS
South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
vii
BMPs Best Management Practices
BTU British thermal unit
CAAQS California Air Quality Standards
CalEEMod California Emissions Estimator Model
CalEPA California Environmental Protection Agency
CalRecycle Department of Resources Recycling and Recovery
Caltrans California Department of Transportation
Cal Water California Water Service
CAP Climate Action Plan
CAPCOA California Air Pollution Control Officers Association
CARB California Air Resources Board
CBC California Building Code
C/CAG City/County Association of Governments
CDFW California Department of Fish and Wildlife
CEC California Energy Commission
CEQA California Environmental Quality Act
CERCLA Comprehensive Environmental Response, Compensation, and Liability Act
CESA California Endangered Species Act
CFR Code of Federal Regulations
CGS California Geologic Survey
CH4 methane
CMP Congestion Management Program
CNDDB California Natural Diversity Database
CNPS California Native Plant Society
CO2 carbon dioxide
CO2e carbon dioxide equivalent
CPUC California Public Utilities Commission
CRHR California Register of Historical Resources
CRPR California rare plant rank
CUPA Certified Unified Program Agency
CWA Clean Water Act
dBA A-weighted decibel
DOC California Department of Conservation
DOT US Department of Transportation
DRRP Diesel Risk Reduction Plan
DTSC Department of Toxic Substances Control
ECR/C El Camino Real/Chestnut Avenue
EIR Environmental Impact Report
EPA United States Environmental Protection Agency
ESA Endangered Species Act
ESA Environmental Site Assessment
FAA Federal Aviation Administration
FEMA Federal Emergency Management Agency
FHWA Federal Highway Administration
FIRM Flood Insurance Rate Maps
GCP General construction permit
GHG Greenhouse gas
HCM Highway capacity manual
HCP Habitat conservation plan
HMTA Hazardous Materials Transportation Act
HR Human Resources
HUD US Department of Housing and Urban Development
TABLE OF CONTENTS
Community Civic Campus Project South San Francisco
Draft SEIR July 2017
viii
HVAC heating, ventilation, and air conditioning
Hz hertz
IPaC Information for Planning and Conservation
IPCC Intergovernmental Panel on Climate Change
ISA Interim supply allocation
ISL Interim supply limitation
IT Information Technology
ITE Institute of Traffic Engineers
LBP Lead based paint
LID Low impact development
LOS Level of service
mgd million gallons per day
mph miles per hour
NAAQS National ambient air quality standards
NB north bound
NHPA National Historic Preservation Act
NOAA National Oceanic and Atmospheric Administration
NOC Notice of Completion
NOP Notice of Preparation
NOx nitrous oxide
NPDES National Pollutant Discharge Elimination System
NRHP National Register of Historic Places
NWIC Northwest Information Center
O3 ozone
OHP California Office of Historic Preservation
OPR California Office of Planning and Research
OSHA Occupational Safety and Health Administration
PCB polychlorinated biphenyl
pc/mi/ln passenger cars per mile per lane
PG&E Pacific Gas and Electric
PHMSA Pipeline and Hazardous Material Safety Administration
PM10 coarse particulate matter
PM2.5 fine particulate matter
PPV peak particle velocity
PRC Public Resources Code
RCRA Resources Conservation and Recovery Act
RMS root mean square
ROG reactive organic gases
RPS renewables portfolio standard
RTP Regional Transportation Plan
RWQCB Regional Water Quality Control Board
SamTrans San Mateo County Transit District
SB south bound
SCS Sustainable Communities Strategy
SEIR Subsequent Environmental Impact Report
SFBAAB San Francisco Bay Area Air Basin
SFO San Francisco International Airport
SFPUC San Francisco Public Utilities Commission
SIP State Implementation Plan
SO2 Sulfur Dioxide
SR State Route
SSSC side-street stop-controlled
TABLE OF CONTENTS
South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
ix
SWRCB State Water Resources Control Board
SWPPP storm water pollution prevention plan
TAC Toxic Air Contaminant
TDM Transportation Demand Management
TIA Transportation Impact Analysis
UBC Uniform Building Code
USFWS United States Fish and Wildlife Service
USGS United States Geological Survey
UST Underground storage tank
UWMP Urban water management plan
VMT Vehicle Miles Traveled
VOC Volatile Organic Compound
VT Vehicle Trips
WQCP Water Quality Control Plant
WWD Westborough Water District
TABLE OF CONTENTS
Community Civic Campus Project South San Francisco
Draft SEIR July 2017
x
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0.0 – EXECUTIVE SUMMARY
ES EXECUTIVE SUMMARY
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
ES-1
This section provides a summary of the Community Civic Campus Project in South San Francisco,
identification of the alternatives evaluated in this Draft Subsequent Environmental Impact Report
(Draft SEIR), a discussion of comments received from the public, and a summary of the
environmental impacts of the project.
ES.1 PURPOSE AND SCOPE OF THE ENVIRONMENTAL IMPACT REPORT
This Draft SEIR provides an analysis of the potential physical environmental effects associated
with project implementation, pursuant to the California Environmental Quality Act (CEQA)
(Public Resources Code Sections 21000–21177).
The analysis focuses on the physical environmental impacts that could arise from project
implementation through the update to the El Camino Real/Chestnut Avenue (ECR/C) Area Plan
and construction of the Community Civic Campus Project. The Community Civic Campus
Project Draft SEIR is a subsequent environmental impact report. A Subsequent Environmental
Impact Report, as described in Section 15162 of the CEQA Guidelines, is prepared under several
circumstances, but in this case was prepared because a substantial change is proposed in the
previous project, creating new potentially significant impacts.
ES.2 PROJECT CHARACTERISTICS
The project will be located on two separate sites, divided by El Camino Real (State Route 82).
The eastern project site is bordered on the west by El Camino Real and on the south by Chestnut
Avenue. Antoinette Lane divides the eastern project site. The western project site is located on
Arroyo Drive between El Camino Real and Camaritas Avenue. The southern boundary of the site
abuts commercial uses on Westborough Boulevard.
The project assumes construction of two buildings on the eastern project site: a joint Library and
Recreation Center and a Police Station with office space for the City’s Information Technology (IT)
and Human Resources (HR) staff. The joint Library and Recreation Center would be up to 92,000
square feet in size and would contain space for a variety of uses. For the purposes of CEQA,
parking will be evaluated as a combination of surface parking and structured parking. The Police
Station with office space for the City’s IT and HR staff would be 44,000 square feet. The building
would include police administration, operations, investigations and support services, an IT office
suite, and an HR office suite.
On the western project site, the existing Municipal Services Building would be demolished (partially
or completely) to allow the construction of a new 7,250-square-foot Fire Station 63, which would
be located in the site’s west corner. Interior spaces would include a drive-through bay for fire
engines, a turnout and decontamination area, office space, and living quarters. The building
would also include a small patio for employee use.
PROJECT CONSTRUCTION
Project implementation would be completed in up to three phases over 28 months:
Phase I – site remediation and preparation; construction of joint Library and Recreation
Center
Phase II – construction of Police Department/IT/HR
Phase III – construction of Fire Station 63
ES EXECUTIVE SUMMARY
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
ES-2
Construction would abide by South San Francisco Municipal Code Section 8.32.050, which limits
construction activities to the hours of 8:00 a.m. to 8:00 p.m. Monday through Friday, 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. Construction
equipment would include heavy equipment such as bulldozers, scrapers, backhoes, excavators,
loaders, compactors, rollers, and paving machines.
Construction activities would involve demolition of existing building on the project site, removal
of existing vegetation, grading and excavation for building foundations, then building
construction.
ES.3 PROJECT ALTERNATIVES SUMMARY
CEQA Guidelines Section 15126.6 requires that an EIR describe a range of reasonable
alternatives to the project which could feasibly attain the basic objectives of the project and
avoid and/or lessen the environmental effects of the project. Further, CEQA Guidelines Section
15126.6(e) requires that a “no project” alternative be evaluated in an EIR. The Draft EIR
evaluates the following alternatives:
Alternative 1 – No Project Alternative. Alternative 1 would retain the uses included in the
existing ECR/C Area Plan, which involves the development of retail space, commercial
space, public uses, residential units, and parking on the eastern project site.
Alternative 2 – Surface Parking Only Alternative. Under Alternative 2, the project would
be developed with the same structures as the proposed project. The project would not
include a parking structure, but instead would expand parking into the public open
space area included in the proposed project.
Alternative 3 – Underground Parking Alternative. Under Alternative 3, the project would
be developed with the same structures as the proposed project. The project would not
include a parking structure, which would be replaced with underground parking below
the Library and Community Center building.
ES.4 NOTICE OF PREPARATION
In accordance with CEQA Guidelines Section 15082, the City prepared a Notice of Preparation
(NOP) of an SEIR on March 2, 2017. The City was identified as the lead agency for the proposed
project. The NOP was circulated to the public, local and state agencies, and other interested
parties to solicit comments on the proposed project. The comment period closed on April 3,
2017, but comments received as late as April 20, 2017, were accepted. Concerns raised in
response to the NOP were considered during preparation of the Draft SEIR. The NOP and
responses by interested parties are presented in Appendix NOP.
The City received four comment letters on the project’s NOP. A copy of each letter is provided
in Appendix NOP of this Draft SEIR. The following issues were raised during the comment period:
The City/County Association of Governments (C/CAG) of San Mateo County: C/CAG
requested an analysis of project-generated traffic on the San Mateo County Congestion
Management Program (CMP) roadway network. C/CAG requested that the scope of
the traffic impact analysis (TIA) include a detailed definition of project impacts on CMP
intersections, freeway segments, and arterial segments. A TIA was prepared for the
project analyzing impacts on intersections and freeway segments. The methodology was
in accordance with the requirements from C/CAG’s Congestion Management Plan for
ES EXECUTIVE SUMMARY
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
ES-3
2009. Impacts and mitigation measures are discussed in Section 3.10, Transportation and
Circulation, and the TIA is included in Appendix TRA.
San Francisco International Airport: The Bureau of Planning and Environmental Affairs of
San Francisco International Airport informed the City that the project is within Airport
Influence Area B of San Francisco International Airport as defined by the Airport Land Use
Compatibility Plan (ALUCP). The Airport Land Use Commission can exercise its duties to
review proposed land use policy actions within Airport Influence Area B. It was also noted
that development must be maintained below defined height limits. Finally, it was noted
that while the project area lies outside of the airport’s 65 dB CNEL noise contour,
departures from the airport will travel over the area and some noise disturbance may
occur. Residential uses should meet the interior noise requirements of the 2007 California
Building Code and the South San Francisco General Plan. These issues are addressed in
Sections 3.7, Hazards and Hazardous Materials; 3.9, Noise; and 3.10, Transportation and
Circulation.
California Department of Transportation (Caltrans) – District 4: Caltrans noted that the City
would be responsible for all project mitigation including needed improvements to the
state transportation network. The project would be responsible for its fair share
contribution, financing, scheduling, and implementation responsibilities of mitigation
measures. Required roadway improvements should be implemented prior to the
issuance of a certificate of occupancy. Caltrans also requested that project-generated
traffic and the cost of public transportation improvements be estimated and that
funding sources be identified. Caltrans suggested a cultural resource study be
undertaken by a qualified archeologist and a qualified architectural historian and that
the City consult with Native American tribes per Assembly Bill (AB) 52. Additionally,
Caltrans informed the City that an encroachment permit would be required if any work
or traffic control takes place in the state right-of-way, and traffic control–related
mitigation measures should be incorporated into the construction plans prior to the
encroachment permit process. These issues are addressed in Sections 3.4, Cultural
Resources, and 3.10, Transportation and Circulation.
San Francisco Public Utilities Commission (SFPUC) – Natural Resources and Lands
Management Division: The SFPUC requested that the SFPUC right-of-way and facilities be
included as part of the existing conditions near the project site. Additionally, the SFPUC
requested that a detailed description, site plan, and mapped area of the project
footprint be provided in the EIR so the SFPUC could determine all impacts on its lands. If
the project is on SFPUC lands, it would be subject to review by the SFPUC Project Review
Committee, and the City was encouraged to schedule the project for review at the
earliest opportunity. These issues are addressed in Section 2.0, Project Description.
ES.5 SUMMARY OF ENVIRONMENTAL IMPACTS
Table ES-1 displays a summary of project impacts and proposed mitigation measures that would
avoid or minimize potential impacts. In the table, the level of significance is indicated both
before and after the implementation of each mitigation measure, as applicable.
For detailed discussions of these environmental impacts, refer to the appropriate environmental
topic section of this Draft SEIR (i.e., Sections 3.1 through 3.11 and Section 5.0). Project
implementation would not generate any significant and unavoidable impacts.
ES EXECUTIVE SUMMARY
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
ES-4
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LS
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EXECUTIVE SUMMARY
N
–
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1.0 – INTRODUCTION
1.0 INTRODUCTION
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
1.0-1
This Draft Subsequent Environmental Impact Report (SEIR) was prepared in accordance with and
in fulfillment of the California Environmental Quality Act (CEQA) and the CEQA Guidelines. As
described in CEQA Guidelines Section 15121(a), an environmental impact report (EIR) is a public
informational document that assesses the potentially significant environmental impacts of a
project.
A Subsequent Environmental Impact Report, as described in Section 15162 of the CEQA
Guidelines, is prepared under several circumstances, but in this case was prepared because a
substantial change is proposed in the previous project, creating new potentially significant
impacts. CEQA requires that an SEIR be prepared by the agency with primary responsibility over
the approval of a project (the lead agency). The City of South San Francisco is the lead agency
for the proposed Community Civic Campus Project (project). Public agencies are charged with
the duty to consider and minimize environmental impacts of proposed development where
feasible and have the obligation to balance economic, environmental, and social factors.
1.1 PURPOSE OF THE EIR
CEQA requires the preparation of an SEIR prior to approving any project which may have a
significant effect on the environment. The City has determined that the proposed project is a
project under CEQA.
This Draft SEIR reviews the environmental effects of project implementation. The City has
prepared this Draft SEIR for the following purposes:
To satisfy the requirements of CEQA (Public Resources Code, Sections 21000–21178) and
the CEQA Guidelines (California Code of Regulations, Title 4, Chapter 14, Sections
15000–15387).
To inform the general public, the local community, and responsible and interested public
agencies of the project nature, its possible environmental effects, recommended
measures to mitigate those effects, and alternatives to the proposed project.
To evaluate the project’s potential significant environmental effects.
CEQA and the CEQA Guidelines charge public agencies, serving as lead agencies on a
particular project, with the duty to avoid or substantially lessen significant environmental impacts
when feasible. In performing this duty, lead agencies have the obligation to balance the
project’s significant impacts on the environment with other conditions, including economic,
social, technological, legal, and other benefits. This Draft SEIR is an informational document that
identifies potentially significant impacts, indicates how these impacts can be avoided or
lessened, identifies any significant and unavoidable adverse impacts that cannot be mitigation,
and identifies reasonable and feasible alternative to the proposed project that would eliminate
any significant adverse environmental impacts or reduce impacts to a less than significant level.
1.2 TYPE OF DOCUMENT
The environmental impact report prepared for the Community Civic Campus Project is a
Subsequent EIR. As defined in CEQA Guidelines Section 15162, when an EIR has been certified
for a project, a subsequent EIR is to be prepared where substantial changes are proposed in the
project that require major revisions of the previous EIR. Substantial changes can occur with
respect to the circumstances under which the project is undertaken requiring major revisions of
the previous EIR, or when new information of substantial importance, which was not known and
1.0 INTRODUCTION
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
1.0-2
could not have been known, at the time the previous EIR was certified as complete shows new
or more severe environmental impacts.
In 2011, the City approved the El Camino Real/Chestnut Avenue (ECR/C) Area Plan. The plan
was prepared to guide development in the approximately 98-acre planning area, located
along El Camino Real from Southwood Drive to north of Sequoia Avenue. The planning area
consisted of areas for low- and high-rise buildings, a mixed-use area, commercial uses, and new
civic uses. Environmental impacts were considered in the El Camino Real/Chestnut Avenue Area
Plan, associated General Plan Amendment, and Zoning Ordinance Amendment EIR (ECR/C EIR).
Since certification of the EIR and adoption of the ECR/C Area Plan in 2011, the City has updated
its plans for the area. A new civic center, which would house a library, recreation center, a new
police station, and city offices, would be built on land designated as Mixed Use in the existing
ECR/C Area Plan. An existing building, the Municipal Services Building, would be demolished and
a new fire station and a future mixed-use project are planned on land designated as Public in
the existing ECR/C Area Plan. The City’s new plan is the Community Civic Campus Project, and
the two land areas are designated as the project site. Impacts of the proposed land uses on the
project site were not considered in the existing ECR/C EIR.
This SEIR specifically considers whether the proposed project would result in new significant
impacts not identified in the 2011 ECR/C EIR, or if the project would cause a substantial increase
in the severity of the previously identified significant impacts. The SEIR also discusses any
pertinent new information or changes in circumstances that could result in new significant
impacts not identified in the ECR/C EIR. Mitigation measures required in the ECR/C EIR are
identified and, where appropriate, are clarified, refined, revised, or deleted. This SEIR also
identifies whether new mitigation measures are required. The 2011 ECR/C EIR was greater in
scope and covered a larger area than the proposed project evaluated in this SEIR. The
Community Civic Campus Project covers only a small portion of the original plan area.
1.3 INTENDED USE OF THE SEIR
This Draft SEIR serves several purposes. The City will use the SEIR to evaluate the environmental
implications of updating the land use designations within the ECR/C Area Plan and adopting
and approving the Community Civic Campus Project. The document may also be used as a
source of information by responsible agencies with permitting or approval authority over the
project.
1.4 ORGANIZATION AND SCOPE
CEQA Guidelines Sections 15122 through 15132 identify content requirements for Draft and Final
EIRs. An EIR must include a description of the environmental setting, an environmental impact
analysis, mitigation measures, alternatives, significant irreversible environmental changes,
growth-inducing impacts, and cumulative impacts. The environmental issues addressed in this
Draft SEIR were established through review of environmental documentation developed for the
project, environmental documentation for nearby projects, and responses to the Notice of
Preparation (NOP) and public scoping meeting comments. This Draft SEIR is organized in the
following sections:
SECTION ES – EXECUTIVE SUMMARY
This section provides a project narrative and identifies environmental impacts and mitigation
measures in a summary table consistent with CEQA Guidelines Section 15123.
1.0 INTRODUCTION
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
1.0-3
SECTION 1.0 – INTRODUCTION
This section provides an overview that describes the intended uses of the SEIR, as well as the
review and certification process.
SECTION 2.0 – PROJECT DESCRIPTION
This section provides a detailed description of the proposed project and project objectives,
along with background information and physical characteristics consistent with CEQA
Guidelines Section 15124.
SECTION 3.0 – ENVIRONMENTAL SETTING, IMPACTS, AND MITIGATION MEASURES
This section contains analyses relative to each environmental topic. Included in this section is a
comprehensive analysis related to impacts and mitigation measures that correspond to project
implementation. Each subsection contains a description of the existing setting of the project
area. The environmental topics are summarized as follows:
Impacts Found Not Significant
Aesthetics
Air Quality
Biological Resources
Cultural Resources
Geology and Soils
Greenhouse Gases and Climate Change
Hazards and Hazardous Materials
Hydrology and Water Quality
Noise
Transportation and Circulation
Utilities and Service Systems
SECTION 4.0 – PROJECT ALTERNATIVES
This section discusses alternatives to the proposed project, including the CEQA mandatory “No
Project” alternative, that are intended to avoid or reduce significant project environmental
impacts.
SECTION 5.0 – OTHER CEQA ANALYSIS
This section contains discussions of significant irreversible environmental changes which would
be involved in the proposed project should it be implemented, as well as significant
unavoidable environmental effects, including those that can be mitigated but not reduced to a
level of insignificance.
SECTION 6.0 – REPORT PREPARERS
This section lists all authors and agencies that assisted in the preparation of the report by name,
title, and company or agency affiliation.
APPROACH TO CUMULATIVE IMPACT ANALYSIS
CEQA Guidelines Section 15130 requires that EIRs include an analysis of the project’s cumulative
impacts when the project’s effect is considered cumulatively considerable. Each technical
section in the Draft SEIR considers whether the project’s effect on anticipated cumulative setting
1.0 INTRODUCTION
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
1.0-4
conditions is cumulatively considerable (i.e., a significant effect). The environmental effects of
potential development in South San Francisco in the cumulative impact analysis are discussed in
each technical section.
TECHNICAL APPENDICES
The appendices contain all technical material prepared to support the analyses.
1.5 ENVIRONMENTAL REVIEW PROCESS
The review and certification process for the SEIR will involve the following general procedural
steps:
NOTICE OF PREPARATION
In accordance with CEQA Guidelines Section 15082, the City prepared a Notice of Preparation
of an SEIR on March 2, 2017. The City was identified as the lead agency for the proposed project.
The NOP was circulated to the public, local and state agencies, and other interested parties to
solicit comments on the proposed project. The comment period closed on April 3, 2017 but
comments received as late as April 20, 2017 were accepted. Concerns raised in response to the
NOP were considered during preparation of the Draft SEIR. The NOP and responses by interested
parties are presented in Appendix NOP.
DRAFT SEIR
This document constitutes the Draft SEIR. The Draft SEIR contains a description of the project, a
description of the environmental setting, identification of project impacts, and mitigation
measures for impacts found to be significant, as well as an analysis of project alternatives. Upon
completion of the Draft SEIR, the City will file the Notice of Completion (NOC) with the
Governor’s Office of Planning and Research to begin the public review period (Public Resources
Code Section 21161).
PUBLIC NOTICE/PUBLIC REVIEW
Concurrent with the NOC, the City will provide public notice of the availability of the Draft SEIR
for public review and invite comment from the general public, agencies, organizations, and
other interested parties. The public review and comment period is required to be a minimum of
45 days. Public comment on the Draft SEIR will be accepted in written form, and by email or
mail. Notice of the time and location of the hearing will be published prior to the hearing. All
comments or questions regarding the Draft SEIR should be addressed to:
South San Francisco, Planning Division
City Hall, 315 Maple Avenue
South San Francisco, CA 94080
Attention: Tony Rozzi, Senior Planner
RESPONSE TO COMMENTS/FINAL SEIR
Following the public review period, a Final SEIR will be prepared. The Final SEIR will respond to
written comments received during the public review period.
1.0 INTRODUCTION
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
1.0-5
CERTIFICATION OF THE EIR/PROJECT CONSIDERATION
The City will review and consider the Final SEIR. If the City finds that the Final SEIR is “adequate
and complete,” the City may certify the Final SEIR. Upon Final SEIR review and consideration, the
City of South San Francisco may act upon the project. A decision to approve the project must
be accompanied by written findings in accordance with CEQA Guidelines Sections 15091 and
15093, as applicable. The City is also required to adopt a Mitigation Monitoring and Reporting
Program, as described below, for mitigation measures that have been incorporated into or
imposed on the project to reduce or avoid significant effects on the environment. The Mitigation
Monitoring and Reporting Program will be designed to ensure that these measures are carried
out during project implementation.
MITIGATION MONITORING
CEQA Section 21081.6(a) requires lead agencies to adopt a mitigation monitoring and reporting
program to describe measures that have been adopted or made a condition of project
approval in order to mitigate or avoid significant effects on the environment. The specific
“reporting or monitoring” program required by CEQA is not required to be included in the SEIR;
however, it will be presented to the decision-making body for adoption and incorporation into
the project.
1.6 COMMENTS RECEIVED ON THE NOTICE OF PREPARATION
The City received four comment letters on the project’s NOP. A copy of the letter is provided in
Appendix NOP of this Draft SEIR. The following issues were raised during the comment period:
The City/County Association of Governments (C/CAG) of San Mateo County: C/CAG
requested an analysis of project-generated traffic on the San Mateo County Congestion
Management Program (CMP) roadway network. C/CAG requested that the scope of
the traffic impact analysis (TIA) include a detailed definition of project impacts on CMP
intersections, freeway segments, and arterial segments. A TIA was prepared for the
project analyzing impacts on intersections and freeway segments. The methodology was
in accordance with the requirements from C/CAG’s Congestion Management Plan for
2009. Impacts and mitigation measures are discussed in section 3.10, Transportation and
Circulation, and the TIA is included in Appendix TRA.
San Francisco International Airport: The Bureau of Planning and Environmental Affairs of
the San Francisco International Airport informed the city that the project is within Airport
Influence Area B of SFO as defined by the Airport Land Use Compatibility Plan (ALUCP).
The Airport Land Use Commission can exercise its duties to review proposed land use
policy actions within Airport Influence Area B. It was also noted that development must
be maintained below defined height limits. Finally, it was noted that while the project
area lies outside of the Airport’s 65 dB CNEL noise contour, departures from the airport will
travel over the area and some noise disturbance may occur. Residential uses should
meet interior noise requirements of the 2007 California Building Code and the South San
Francisco General Plan. These issues were addressed in sections 3.7 Hazards and
Hazardous Materials, 3.9 Noise, and 3.10 Transportation and Traffic.
California Department of Transportation – District 4 (Caltrans): Caltrans noted that the city
would be responsible for all project mitigation including needed improvements to the
State Transportation network. The project would be responsible for its fair share
contribution, financing, scheduling, and implementation responsibilities of mitigation
1.0 INTRODUCTION
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
1.0-6
measures. Required roadway improvements should be implemented prior to the
issuance of a certificate of occupancy. Caltrans also requested that project generated
traffic and the cost of public transportation improvements be estimated as well as
funding sources be identified. Caltrans suggested a cultural resource study be
undertaken by a qualified archeologist and a qualified architectural historian and that
the city consult with Native American tribes per Assembly Bill (AB) 52. Additionally,
Caltrans informed the city that an encroachment permit would be required if any work
or traffic control takes place in the State right-of-way, and traffic control related
mitigation measures should be incorporated into the construction plans prior to the
encroachment permit process. These issues were addressed in sections 3.4 Cultural
Resources and 3.10 Transportation and Traffic.
San Francisco Public Utilities Commission – Natural Resources and Lands Management
Division (SFPUC): The SFPUC requested that the SFPUC right-of-way and facilities be
included as part of the existing conditions near the project site. Additionally, SFPUC
requested a detailed description, site plan, and mapped area of the project footprint be
provided in the EIR so the SFPUC could determine all impacts on its lands. If the project is
on SFPUC lands, it would be subject to review by the SFPUC Project Review Committee,
and the city was encouraged to schedule the project for review at the earliest
opportunity. These issues were addressed in section 2.0 Project Description.
These issues have been analyzed and addressed in the appropriate sections of this SEIR, as
indicated above.
2.0 – PROJECT DESCRIPTION
2.0 PROJECT DESCRIPTION
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
2.0-1
This section of the Draft Subsequent Environmental Impact Report (Draft SEIR) contains the
project description. The purpose of the project description is to present the project in a
meaningful way to the public, reviewing agencies, and decision-makers. As described in
California Environmental Quality Act (CEQA) Guidelines Section 15124, a complete project
description must contain the following information: (1) the location and boundaries of the
proposed project on a regional and detailed map; (2) a statement of objectives sought by the
proposed project; (3) a general description of the proposed project’s technical, economic, and
environmental characteristics; and (4) a statement briefly describing the intended uses of the
EIR.
2.1 REGIONAL AND LOCAL SETTING
South San Francisco is located in San Mateo County, which is one of nine counties in the San
Francisco Bay Area. San Mateo County covers a large portion of the San Francisco Peninsula,
extending along the western shore of the San Francisco Bay and its border with San Francisco
County to the north and south to Santa Clara County and Santa Cruz County (Figure 2.0-1,
Regional Vicinity Map).
The project site is located in the El Camino Real/Chestnut Avenue (ECR/C) Area Plan. The
project site is located approximately 2.6 miles northwest of San Francisco International Airport
(SFO), approximately 0.5 mile southeast of the South San Francisco BART station, and
approximately 8.3 miles south of downtown San Francisco.
The project will be located on two separate sites, divided by El Camino Real (State Route 82)
(Figure 2.0-2, Project Location). The eastern project site is bordered on the west by El Camino
Real and on the south by Chestnut Avenue. Antoinette Lane divides the eastern project site.
The western project site is located on Arroyo Drive between El Camino Real and Camaritas
Avenue. The southern boundary of the site abuts commercial uses on Westborough Boulevard.
2.2 EXISTING CONDITIONS
The project site, including both the eastern and western sites, totals approximately 8.2 acres.
Project land uses by parcel are listed in Table 2.0-1, Existing Land Uses.
The eastern project site consists of nine parcels, totaling approximately 6 acres. An existing
commercial retail store and surface parking lot are located to the east of Antoinette Lane. The
remaining parcels to the west of Antoinette Lane are occupied by a paved area used for
parking access to BART and utility building, undeveloped land, and vegetation. Access to BART
utility service structure will be maintained. Colma Creek, which is channelized in the project
area, and the Centennial Way Trail are located on the project site’s eastern border.
The western project site measures approximately 2.2 acres and consists of two parcels. The
Municipal Services Building, at 33 Arroyo Drive, is a one-story building located on the western
project site. The Municipal Services Building houses the South San Francisco Parks and
Recreation Department, the South San Francisco Police Department, and South San Francisco
Fire Department Station 63. It also includes an underground parking garage, which is accessed
from El Camino Real.
2.0 PROJECT DESCRIPTION
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
2.0-2
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Figure 2.0-1Regional Vicinity Map
Project Area
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Figure 2.0-2Project Location
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2.0 PROJECT DESCRIPTION
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
2.0-7
TABLE 2.0-1
EXISTING LAND USES
Site APN Land Use
Eastern Project Site
1 011322030 Existing retail store and parking lot
2 010292210 Undeveloped
3 011322030 Undeveloped
4 011326030 Undeveloped
5 093312050 Undeveloped
6 093312060 Undeveloped
7 093330040 Undeveloped
8 093331070 Undeveloped
9 093331080 Undeveloped
Western Project Site
1 010400100 Paved area/parking lot
2 010400270 Existing Municipal Services Building
SURROUNDING LAND USES
The project site is located in an urban area and surrounded by a variety of land uses. Several
commercial areas that include banks, supermarkets, and other retail uses are located to the
south of the project area.
Land uses surrounding the eastern project site include a veterinary hospital and multi-family
residential development along the eastern boundary of the project site. Multi-family residential
uses are located east, across Antoinette Lane, and north, across Mission Road, of the eastern
project site boundary. Antoinette Lane ends in a cul-de-sac in the eastern project site, while the
Centennial Way Trail extends from the cul-de-sac and flanks and crosses Colma Creek.
Land uses surrounding the western project site include commercial and medium-density multi-
family residential uses, across Arroyo Drive. Commercial uses are located directly along the
southern border fronting El Camino Real, Westborough Boulevard, and Camaritas Avenue.
The San Francisco Public Utilities Commission (SFPUC) operates the Sunset Supply Line, a water
transmission pipeline, near the project site. The pipeline runs parallel to the project site in El
Camino Real between Chestnut Avenue and Arroyo Drive. At Arroyo Drive, the pipeline crosses
beneath El Camino Real and enters land adjacent to the project site. SFPUC’s right-of-way does
not extend onto the project site.
EXISTING GENERAL PLAN/SPECIFIC PLAN LAND USE DESIGNATION
The eastern project site is currently designated El Camino Real Mixed Use North and Parks and
Recreation in the ECR/C Area Plan. The El Camino Real Mixed Use North designation
encompasses most of the eastern project site and is meant to accommodate high-intensity
active uses and mixed-use development including retail and department stores, restaurants,
2.0 PROJECT DESCRIPTION
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
2.0-8
hotels, and offices. The Parks and Recreation designation applies to the existing BART right-of-
way and allows for parks, recreation complexes, public golf courses, and greenways.
The western project site is currently designated Public in the ECR/C Plan. This designation
provides for schools, libraries, government offices, transit sites, and other facilities that have a
unique public character.
EXISTING ZONING
The eastern and western project sites are zoned as ECR/C-MXH (El Camino Real/Chestnut Mixed
Use, High Density). This zoning district allows for active uses that are accessible to the general
public and contribute to a high level of pedestrian activity. Although the zoning designation is
not identical to the General Plan/Specific Plan land use designations, there are no
inconsistencies with existing land uses. The current Municipal Services Building uses are permitted
in the ECR/C-MXH zoning district.
2.3 PROJECT BACKGROUND
In 2011, the City approved the ECR/C Area Plan. The plan was meant to guide development in
the approximately 98-acre planning area. The planning area is located along El Camino Real
from Southwood Drive to north of Sequoia Avenue. Existing land uses in the plan area consist of
low- and high-rise buildings, mixed-use areas, commercial uses, and new civic uses.
Environmental impacts were analyzed in the ECR/C EIR (SCH No. 2010072015). Since certification
of the EIR certification and adoption of the ECR/C Area Plan in 2011, the City has conducted a
community input process to identify opportunities for the construction of a Community Civic
Campus project on the project site. The City will analyze the necessary update to the existing
ECR/C Area Plan to construct 2817682.1 and Fire Station 63. This project scope was not included
in the original EIR. Three possible site plan scenarios were identified for the purposes of
community input and varied only by the type of parking (surface, underground or structured)
and location of parking on-site. For the purposes of the project description, the site plan scenario
that includes surface parking and a shared parking structure will constitute the project analyzed
in this Draft SEIR. The two other alternative parking scenarios will be considered as Project
Alternatives in this Draft SEIR.
2.4 PROJECT DESCRIPTION
The project would demolish one building on the eastern project site and construct new
community-serving uses. Additionally, for the purposes of CEQA, the project assumes partial (or
complete) demolition of the existing Municipal Services Building on the western project site in order
to construct a replacement Fire Station 63. Demolition of any remaining structure on the western
project site would occur once a development plan is approved by the City. Figure 2.0-3, Proposed
Project, shows the locations of the proposed changes. Project actions are described below.
EASTERN PROJECT SITE
The project assumes construction of two buildings on the eastern project site: a joint Library and
Recreation Center and a Police Station with office space for the City’s Information Technology (IT)
and Human Resources (HR) staff.
New Fire StationNew Fire Station
New Police/IT/HRNew Police/IT/HR
New Library &
Community Center
New Library &
Community Center
FIGURE 2.0-3
Proposed Project
T:\_CS\Work\South San Francisco, City of\157237 Civic Center Planning + CEQA\Figures
Source: City of South San Francisco
Not To Scale
2.0 PROJECT DESCRIPTION
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
2.0-11
The joint Library and Recreation Center would be up to 92,000 square feet in size and would
contain space for a variety of uses. For the purposes of CEQA, parking will be evaluated as a
combination of surface parking and structured parking. Uses on the eastern project site would
include those listed in Table 2.0-2, Community Civic Campus Elements.
TABLE 2.0-2
COMMUNITY CIVIC CAMPUS ELEMENTS*
Type of Space Purpose and Size
Performance space 100-seat theater
Exhibit space 300 square feet of gallery space
Social space 3,000 square feet of informal social space
Library reading rooms and seating areas for children, teens, and adults
Library collaboration spaces
Program spaces 6,000-square foot social hall, frequent rentals
1,600-square-foot library program room
1,100-square-foot maker space “Tinker Lab”
800-square-foot technology lab
Classrooms Four large classrooms (1,200 square feet)
Two medium-sized classrooms (1,000 square feet)
One large dance studio (1,600 square feet)
One medium dance studio (800 square feet)
Retail 300-square-foot café
500-square-foot Friends of the Library store
Civic 3,000-square-foot council chambers, flexible for City programming and rentals
City Council support spaces
Preschool* Three 20-child classrooms
Staff workspace and support space
Secure outdoor play space for 60 children
Staff space Library offices and workstations
Parks and Recreation Department offices and workstations
Shared reception, collaboration, and breakout space
Space for future staff growth
Storage and building support Building and program storage
Building systems, restrooms
Outdoor space Building rooftops: up to 6,000 square feet of usable rooftop area
Events plaza: for day-to-day informal gathering and seating with the ability to host
periodic special events for 350–500 people
Meadow: for casual gathering and passive recreation
Centennial Trail: connection to the existing trail with a bike and running path
Parking Up to 294 spaces, both underground and aboveground
Source: South San Francisco 2017
Notes*: 1.Programming for purposes of CEQA but minor variations possible in final Community Civic Campus Project.
2. Preschool programming is under consideration for purposes of CEQA but may not be included in final Community Civic Campus Project
if alternative locations are identified.
2.0 PROJECT DESCRIPTION
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
2.0-12
The Police Station with office space for the City’s Information Technology (IT) and Human
Resources (HR) staff would be 44,000 square feet. The building would include police
administration, operations, investigations and support services, an IT office suite, and an HR
office suite. Parking would include 161 parking spaces and 5 Police Department bicycle spaces.
Extension of water mains would be required along with service connections to each new
building. The extension of the water main would be located in El Camino Real from the south
entry of Kaiser Hospital to Chestnut Avenue. Additional sewer lines would be installed to serve
the project.
WESTERN PROJECT SITE
The existing Municipal Services Building would be demolished (partially or completely) to allow
the construction of a new 7,250-square-foot Fire Station 63, which would be located in the site’s
west corner. Interior spaces would include a drive-through bay for fire engines, a turnout and
decontamination area, office space, and living quarters. The building would also include a small
patio for employee use. Fire Station 63 would be staffed by seven employees per shift and would
include 15 parking spaces.
The Municipal Services Building is seismically unsafe and is unlikely to be retenanted in its current
form. It is unclear at this time whether the Municipal Services Building would be seismically
retrofitted or if the building would be demolished to make way for a new use. Because there is
no reasonable foreseeable future use of the Municipal Services Building, no analysis of the
impacts of future uses is provided in this document. When future uses are proposed, a separate
CEQA analysis for those uses will be conducted.
LAND USE PLANNING
The project would be located in a portion of the area covered by the 2011 ECR/C Area Plan.
The project would update the land use designations contained in the existing Area Plan to
accommodate the new uses, as shown on Figure 2.0-4, Proposed Land Use Changes.
The eastern project site would not require land use changes, as the proposed land uses are
allowed under current land use designations.
The western project site would be redesignated from Public to El Camino Real Mixed Use North,
High Intensity to accommodate the future mixed-use project. This designation is intended to
accommodate high-intensity active uses and mixed use development including retail,
restaurants, hotels, financial, residential, and other uses. Public uses are permitted in all land use
designations in the ECR/C Area Plan, and therefore the proposed fire station would comply with
the new designation.
SITE CIRCULATION
The eastern project site would be accessed via Antoinette Lane and Chestnut Avenue. Access
to the Library and Recreation Center would be via Antoinette Lane. Access to the Police
Station/IT/HR building would be via Chestnut Avenue and Antoinette Lane. No access would be
available from El Camino Real.
Fire Station 63 on the western project site would be accessed via Camaritas Avenue.
Change Land Use
from Public to El
Camino Real Mixed
Use North, High
Intensity
Source: City of South San Francisco
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Proposed Land Use ChangesNot To Scale Not To Scale
2.0 PROJECT DESCRIPTION
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
2.0-15
PARKING
Surface and structure parking for the eastern project site would be located along Antoinette
Lane and shared among Library, Recreation Center, Police Station/IT/HR building users.
Parking for the western project site would be located behind Fire Station 63 and would be
accessed from Camaritas Avenue.
CONSTRUCTION
Project implementation would be completed in up to three phases over 28 months: Table 2.0-3,
Construction Phasing and Actions, describes the activities, equipment, and approximate time
frame for each phase.
Phase I – site remediation and preparation; construction of joint Library and Recreation
Center;
Phase II – construction of Police Department/IT/HR
Phase III – construction of Fire Station 63
TABLE 2.0-3
CONSTRUCTION PHASING AND ACTIONS
Phase Duration Construction Activities
Phase I – Site remediation and
preparation; construction of
joint Library and Recreation
Center
28 months Demolition of existing commercial uses
Removal of existing vegetation
Grading of the project roads and construction pads
Excavation/foundations
Podium slab/rough utilities
Rough framing/roofing/exterior
Interior finish/plumbing/electrical
Fixtures/casework/appliances
Phase II – construction of
Police Station/IT/HR
12–16 months Removal of existing vegetation
Grading of the project roads and construction pads
Installation of project utilities
Excavation/foundations
Podium slab/rough utilities
Rough framing/roofing/exterior
Interior finish/plumbing/electrical
Fixtures/casework/appliances
Phase II – construction of Fire
Station 63
12–14 months Demolition of existing Municipal Services Building
Removal of existing vegetation
Grading of the project roads and construction pads
Installation of project utilities
Excavation/foundations
Podium slab/rough utilities
Rough framing/roofing/exterior
Interior finish/plumbing/electrical
Fixtures/casework/appliances
2.0 PROJECT DESCRIPTION
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
2.0-16
Construction would abide by South San Francisco Municipal Code Section 8.32.050, which limits
construction activities to the hours of 8:00 a.m. to 8:00 p.m. Monday through Friday, 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. Construction
equipment would include heavy equipment such as bulldozers, scrapers, backhoes, excavators,
loaders, compactors, rollers, and paving machines.
2.5 PROJECT OBJECTIVES
On November 3, 2015, South San Francisco voters approved a half-cent sales tax measure,
“Measure W.” The measure was structured as a general tax with tax proceeds beginning April 1,
2016, available for any valid governmental purpose.
The information-gathering phase of the ballot measure occurred over 12 months, and consisted
of the following: eight community meetings, numerous public surveys, two phone/email surveys
and additional public comment. Priorities identified incorporated into the City Council resolution
and Measure W ballot wording, including the following related objectives for the Community
Civic Campus:
Maintain public safety and essential services;
Improve emergency response times, neighborhood patrols, crime prevention programs
and gang suppression programs; and
Provide programs for seniors and disabled residents.
These project objectives/goals are achieved given the joint Library and Recreation Center will
provide essential services and programs, and the new modernized Police and Fire Stations will
improve public safety.
2.6 RELATIONSHIP OF PROJECT TO OTHER PLANS
CITY OF SOUTH SAN FRANCISCO GENERAL PLAN
The ECR/C Area Plan is an area plan within the South San Francisco General Plan. Updates to
the ECR/C Area Plan would need to be consistent with the policies of the City’s General Plan.
2.7 PROJECT APPROVALS
The project would require the following approval actions on the part of the City:
General Plan revisions and updates;
ECR/C Area Plan revisions and updates;
Zoning Ordinance revisions and updates; and
Certification of Subsequent EIR
In addition to the City, there are also federal, regional, and state responsible agencies that may
have discretionary authority over specific aspects of the project. These agencies include, but
are not limited to:
San Francisco Bay Regional Water Quality Control Board – Issuance of a National
Pollutant Discharge Elimination System (NPDES) permit for construction activities
disturbing more than 1 acre and approval of operational stormwater treatment
2.0 PROJECT DESCRIPTION
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
2.0-17
2.8 REFERENCES
South San Francisco, City of. 2017. Proposed Project Plans.
2.0 PROJECT DESCRIPTION
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
2.0-18
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3.0 – LESS THAN SIGNIFICANT IMPACTS
3.0 LESS THAN SIGNIFICANT IMPACTS
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.0-1
3.0.1 INTRODUCTION
In the course of evaluating the proposed Community Civic Campus Project, certain impact areas
included in the California Environmental Quality Act (CEQA) Appendix G checklist were found to
have a less than significant impact or no impact because the project type and location would
not create such impacts. This section briefly describes the effects found to have a less than
significant impact or no impact on environmental resources in the project area. Note that a
number of impacts found to have no impact or a less than significant impact are addressed in
the various Draft SEIR sections (Sections 3.1 through 3.11) to provide a more comprehensive
discussion as to why impacts are less than significant and to better inform decision-makers and
the general public.
This section contains a description of the existing setting, identifies standards of significance, and
identifies project-related impacts or the lack thereof.
3.0.2 ENVIRONMENTAL ANALYSIS
AGRICULTURE AND FORESTRY RESOURCES
Based on Appendix G of the State CEQA Guidelines, agriculture and forestry resource impacts
are considered to be significant if the project would result in any of the following:
1) Convert Prime Farmland, Unique 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 nonagricultural use.
2) Conflict with existing zoning for agricultural use, or a Williamson Act contract.
3) Conflict with existing zoning for, or cause rezoning of, forestland (as defined in Public
Resources Code Section 12220(g)), timberland (as defined by Public Resources Code
Section 4526), or timberland zoned Timberland Production (as defined by Government
Code Section 51104(g)).
4) Result in the loss of forestland or conversion of forestland to non-forest use.
5) Involve other changes in the existing environment, which, due to their location or nature,
could result in conversion of Farmland to nonagricultural use or conversion of forestland to
non-forest use.
Agriculture and Forestry Resources Impacts
Impact 3.0.1 Future development under the proposed project would not impact agriculture
and forestry resources. There would be no impact.
2011 ECR/C Area Plan Impacts
As described in the ECR/C EIR, there are no agriculture or forestry resources in the planning area.
Therefore, the project analyzed under the original EIR would have no impact on any agriculture
and forestry resources (South San Francisco 2011b, p. 3.12-2).
3.0 LESS THAN SIGNIFICANT IMPACTS
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.0-2
Subsequent Project Impacts
The project site is located in an urbanized area. The project site is not designated as Prime
Farmland, Unique Farmland, or Farmland of Statewide Importance on the maps prepared
pursuant to the Farmland Mapping and Monitoring Program of the California Department of
Conservation (2014). There are no Williamson Act contracts on the property (California
Department of Conservation 2007). Additionally, no changes have occurred in the planning area
since the certification of the ECR/C EIR. Therefore, the proposed project would not involve direct
or indirect conversion of farmland to nonagricultural use or conversion of forestland to non-forest
use. The revised project would continue to have no impact.
Mitigation Measures
None required.
LAND USE AND PLANNING
Based on Appendix G of the State CEQA Guidelines, the proposed project would have a
significant environmental impact related to land use and planning if it would:
1) Physically divide an established community.
2) Conflict with any applicable land use plan, policy, or regulation of any agency with
jurisdiction over the project (including, but not limited to, the general plan, specific plan,
or zoning ordinance) adopted for the purpose of avoiding or mitigating an environmental
effect.
3) Conflict with any applicable habitat conservation plan or natural community conservation
plan.
Divide an Established Community
Impact 3.0.2 The project would not result in the physical division of an established
community. The impact would be less than significant.
2011 ECR/C Area Plan Impacts
As outlined in the ECR/C EIR, the Area Plan would result in a corridor with compatible land uses
and similar urban design patterns, resulting in a more cohesive community. Therefore, the project
would have a less than significant impact on an established community (South San Francisco
2011b, p. 3.9-7).
Subsequent Project Impacts
The western project site is currently developed with the existing Municipal Services Building and a
parking lot. The eastern project site is developed with an existing retail location and a vacant
paved area. The existing Municipal Services Building would be demolished and a new fire station
would be built on the western portion of the site. The existing retail store on the eastern project site
would be demolished and the area would have the Community Civic Campus constructed on it.
The nearest residential areas are located across the street from both sites. The project would
change the land use designation of the western project site from Public to ECR/C Mixed Use North,
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High Intensity and would construct a public building—the new fire station—on a portion of the
eastern project site. The project would also entail the construction of governmental uses on land
designated as parkland and mixed use. However, public uses are allowed in these land use
designations. The project would be developed with a mix of uses on the eastern project site, and
the new construction would fit with these existing uses. Furthermore, the proposed uses would not
divide an existing community. As such, the revised project would continue to have a less than
significant impact.
Mitigation Measures
None required.
Conflict with an Applicable Land Use Plan
Impact 3.0.3 The proposed project would not conflict with the City General Plan or Zoning
Ordinance. The project would have less than significant impact.
2011 ECR/C Area Plan Impacts
As described in the ECR/C EIR, the project included the adoption of the specific plan and a zoning
update. The EIR found that the project would not conflict with policies or standards in the city
(South San Francisco 2011b, p. 3.9-10). Therefore, the original EIR found this to be a less than
significant impact.
Subsequent Project Impacts
The project would update the City’s General Plan and Zoning Ordinance to allow for the proposed
uses. The General Plan land use designation on the western project site would change from Public
to ECR/C Mixed Use North, High Intensity. The community civic center would be built on the
eastern project site, which has a land use designation of ECR/C Mixed Use North. Public facilities
are allowed uses in all land use designations in the ECR/C Area Plan. Additionally, project
development would follow all design guidelines and other regulations in the ECR/C Area Plan and
the South San Francisco General Plan. Construction activities would be required to comply with
the provisions of the City’s Zoning Ordinance. The project would not be in conflict with existing City
regulations. As such, the revised project would have no impact, which is less than the original
project.
Mitigation Measures
None required.
Conflict with a Habitat Conservation Plan or Natural Community Conservation Plan
Impact 3.0.4 The project site is not subject to an adopted or proposed habitat conservation
plan, natural community conservation plan, or other approved local, regional,
or state habitat conservation plan. As such, the project would have no impact.
2011 ECR/C Area Plan Impacts
As described in the ECR/C EIR, new development under the ECR/C Area Plan would be subject
to Municipal Code Chapter 13.30, Tree Preservation. The Area Plan would not change or conflict
with the City’s Tree Preservation Ordinance. The planning area is not subject to the San Bruno
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Mountain Habitat Conservation Plan. There would be no impact with regard to local policies and
ordinances and habitat conservation plans (South San Francisco 2011b, p. 3.12-10).
Subsequent Project impacts
The project site is not located in an area with an adopted or proposed habitat conservation plan,
natural community conservation plan, or another approved local, regional, or state habitat
conservation plan. Therefore, the project would not conflict with any such plan. The revised
project would continue to have no impact.
Mitigation Measures
None required.
MINERAL RESOURCES
Based on CEQA Guidelines Appendix G, the proposed project would have a significant
environmental impact related to mineral resources if it would:
1) 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.
2) 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.
Mineral Resources Impacts
Impact 3.0.5 The proposed project would not impact mineral resources. The project would
have no impact.
2011 ECR/C Area Plan Impacts
As described in the ECR/C EIR, mineral resources of value to the region and the residents of the
state have not been identified in the planning area. The planning area has not been delineated
as a locally important mineral recovery site. Therefore, the proposed project would have no
impact on any known mineral resources (South San Francisco 2011b, p. 3.12-2).
Subsequent Project Impacts
According to the South San Francisco General Plan, no areas in the city are designated as having
significant mineral resources. Therefore, project implementation would not result in the loss of
availability of a known mineral resources or a locally important mineral resource recovery site. As
such, the revised project would continue to have no impact.
Mitigation Measures
None required.
POPULATION AND HOUSING
According to CEQA Guidelines Appendix G, impacts to population and housing are considered
significant if implementation of the project would:
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1) Induce substantial population growth in an area, either directly (for example, by proposing
new homes and businesses) or indirectly (for example, through extension of roads or other
infrastructure).
2) Displace substantial numbers of existing housing, necessitating the construction of
replacement housing elsewhere.
3) Displace substantial numbers of people, necessitating the construction of replacement
housing elsewhere.
Substantial Population Growth
Impact 3.0.6 The proposed project would not result in an increase in the number of residents
or housing units in the area over what was anticipated in the ECR/C Area Plan.
The impact would be less than significant.
2011 ECR/C Area Plan Impacts
The ECR/C EIR estimated the population in the planning area to be 400. With the Area Plan, the
planning area’s population would grow to approximately 4,800, an increase of 92 percent. It was
anticipated that the proposed plan would increase housing by 727 units and population by 2,300
residents above what is projected by the Association of Bay Area Governments (ABAG). Although
the population in the planning area was projected to increase substantially, the Area Plan was
not considered growth inducing, as it would accommodate almost half of the growth projected
for South San Francisco by ABAG. Additionally, because the planning area is located near public
transit and has available land, it was determined that the additional growth induced by the plan
would be a redistribution of growth from other areas of the city, and not growth on top of what
was projected by ABAG (South San Francisco 2011b, p. 5-1).
Subsequent Project Impacts
The project would not induce population growth above what was analyzed in the ECR/C EIR. The
land use designation of the western project site, a total of approximately 2.2 acres, would be
changed from Public to ECR/C Mixed Use North, High Intensity. A fire station would be constructed
on the western project site, but the change in land use designation would allow future housing to
be developed on the remaining land. The eastern project site, which is approximately 6.0 acres,
is currently designated ECR/C Mixed Use North. Instead of mixed-use development, the site would
be developed with the civic center. Because the project would not increase population over
what was analyzed in the ECR/C EIR, the project would have a less than significant impact.
Mitigation Measures
None required.
Displacement of Housing or People
Impact 3.0.7 The proposed project would not displace substantial numbers of housing or
people. The project would have no impact.
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2011 ECR/C Area Plan Impacts
The ECR/C EIR found that it was possible for residential uses to convert to high density or mixed
uses. Any loss of housing units due to conversion of residential uses to high density or mixed uses
would be offset because of the significant increase of the total number of dwelling units in the
planning area. Therefore, the project would have a less than significant impact (South San
Francisco 2011b).
Subsequent Project Impacts
The western project site is currently developed with a parking lot and city offices. The eastern
project site is currently a vacant paved lot and a retail location. The project would not displace
any existing housing or people and would not require the construction of replacement housing
elsewhere. Therefore, the revised project would have no impact, which is less than the ECR/C EIR.
Mitigation Measures
None required.
PUBLIC SERVICES
Based on Appendix G of the State CEQA Guidelines, the proposed project would have a
significant environmental impact related to public services if it would:
1) 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 following public services:
Fire protection
Police protection
Schools
Parks
Other public facilities
Fire and Police Protection, Other Public Facilities
Impact 3.0.8 Future development under the proposed project may require additional fire
and police protection services. The impact would be less than significant.
2011 ECR/C Area Plan Impacts
The population increase from the project would not put South San Francisco over the National Fire
Protection Association’s standard of one firefighter per 1,000 residents at full buildout, taking into
consideration current fire station staffing levels. Therefore, the project had a less than significant
impact on fire services (South San Francisco 2011b, p. 3.7-17).
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The population at full buildout of the project area would require the addition of 4 police officers
based on the standard of 1.5 police officers per 1,000 residents. However, these additional police
officers would not require the construction of new facilities. Therefore, the project would have a
less than significant impact on police services.
Subsequent Project Impacts
The project would change the land use designation of the western project site from Public to
ECR/C Mixed Use North, High Intensity, allowing housing to be developed on the site in the future.
The eastern project site would be developed with the proposed civic center. The project would
not increase the population over what was analyzed in the ECR/C EIR. Because the population
would not increase over the amount analyzed in the ECR/C EIR, impacts on fire, police, and other
public facilities would not increase. For impacts on parks, please see the Recreation section
below. Therefore, the revised project would continue to have a less than significant impact.
Mitigation Measures
None required.
Schools
Impact 3.0.9 Project development may increase the demand for school facilities. The
impact would be less than significant.
2011 ECR/C Area Plan Impacts
Implementation of the ECR/C Area Plan was estimated to result in an increase in student
population in the South San Francisco Unified School District by approximately 70 students. This will
increase the projected enrollment to 9,370 students for the year 2022. This student enrollment is
below the estimated capacity of 10,701 students and below the 9,393 student enrollment the
district is expected to reach in 2017. In addition, new development under the Area Plan will be
required to pay a School Facilities Impact Fee. With this requirement and because the district is
expected to have sufficient capacity to meet demand for school facilities, a less than significant
impact on school facilities is anticipated (South San Francisco 2011b, p. 3.7-16).
Subsequent Project Impacts
The land designation of the western project site would change from Public to ECR/C Mixed Use
North, High Intensity. This designation would allow housing to be developed on the western project
site in the future. The eastern project site is currently designated as ECR/C Mixed Use North and
would be developed into the civic center. The project would not increase the population over
what was analyzed in the ECR/C EIR. As stated in the ECR/C EIR, the school system’s open
capacity could incorporate any increase in the student population from the project. Therefore,
the revised project would continue to have a less than significant impact.
Mitigation Measures
None required.
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RECREATION
Based on State CEQA Guidelines Appendix G, the proposed project would have a significant
environmental impact related to recreation if it would:
1) Increase the use of existing neighborhood and regional parks or other recreational facilities
such that substantial physical deterioration of the facility would occur or be accelerated.
2) Require the construction or expansion of recreational facilities which might have an
adverse physical effect on the environment.
Increased Use of Parks
Impact 3.0.10 The project would potentially result in increased demand for and use of existing
parks and other recreational facilities. The project would have a less than
significant impact.
2011 ECR/C Area Plan Impacts
As described in the ECR/C EIR, while the Area Plan would increase population in the city, the
planned increase in parkland near the planning area would help accommodate the projected
increase in population and the number of employees. New parks will limit the physical
deterioration of existing parkland. Therefore, the Area Plan would have a less than significant
impact (South San Francisco 2011b, p. 3.6-4).
Subsequent Project Impacts
The project would change the land use designation of the western project site from Public to
ECR/C Mixed Use North, High Intensity, allowing housing to be developed on the western project
site in the future. The project would be developed in the same area covered in the ECR/C EIR. The
planned increase in parkland identified in the ECR/C EIR would cover any population increase as
a result of project implementation. Additionally, the Community Civic Center Project would
include public parkland and open space, as outlined in Section 2.0, Project Description. Therefore,
the revised project would continue to have a less than significant impact.
Mitigation Measures
None required.
Construction or Expansion of Recreational Facilities
Impact 3.0.11 The project would increase the use of existing recreation and public facilities
and increase the demand for such facilities. The impact would be less than
significant.
2011 ECR/C Area Plan Impacts
As described in the ECR/C EIR, the planning area encompasses multiple public facilities. These
include the Municipal Services Building and the Joseph A. Fernekes Recreation Building. Demand
for recreational and public facilities would be met through implementation of the South San
Francisco Parks, Recreation, and Open Space Master Plan. The ECR/C Area Plan would maintain
existing facilities, and new facilities would be developed. The project would have a less than
significant impact (South San Francisco 2011b, p. 3.6-7).
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Subsequent Project Impacts
The existing Municipal Services Building would be demolished. However, the new civic center
campus and fire station would expand public facilities in the city. The new fire station, police
station, library, classrooms, and city offices would replace and expand the existing facilities. The
civic center campus would also increase the amount of open space in the city by adding park
space around the campus, and would expand bicycle and pedestrian facilities with a bike and
walking path connection to the Centennial Way Trail. Changing the land use designation of the
western project site from Public to El Camino Real Mixed Use North, High Intensity would allow
mixed-use development on the site. Nonetheless, the increased population would not exceed
what was analyzed in the ECR/C EIR. Therefore, the revised project would continue to have a less
than significant impact.
Mitigation Measures
None required.
TRIBAL CULTURAL RESOURCES
Based on Appendix G of the State CEQA Guidelines, the proposed project would have a
significant environmental impact related to tribal cultural resources if it would cause a substantial
adverse change in the significance of a tribal cultural resource, defined in Public Resources Code
Section 21074 as either a site, features, place, cultural landscape that is geographically defined
in terms of the size and scope of the landscape, sacred place, or object with cultural value to a
California Native American tribe, and that is:
1) Listed or eligible for listing in the California Register of Historical Resources, or in a local
register of historical resources as defined in Public Resources Code Section 5020.1(k), or
cause a substantial adverse change in the significance of an archaeological resource as
defined in CEQA Guidelines Section 15064.5(k); or
2) A resource determined by the lead agency, in its discretion and supported by substantial
evidence, to be significant pursuant to criteria set forth in subdivision (c) of Public
Resources Code Section 5024.1.
Tribal Cultural Resources Impacts
Impact 3.0.12 The project could indirectly result in the disturbance of undiscovered tribal
cultural resources (i.e., prehistoric sites, historic sites, and isolated artifacts and
features) or unrecorded human remains. The impact would be less than
significant.
2011 ECR/C Area Plan Impacts
At the time of ECR/C EIR preparation, the CEQA Guidelines did not contain a tribal cultural
resources section, as this section was added to the CEQA Guidelines in 2017. This document uses
the updated 2017 CEQA Guidelines that include additional standards of significance which were
not analyzed in the ECR/C EIR.
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Subsequent Project Impacts
As identified in the Section 3.4, Cultural Resources, of this Draft SEIR, historical or archaeological
resources were not identified in the project area, including Native American or tribal resources.
No tribes have requested consultation with the City in accordance with Assembly Bill 52, and South
San Francisco has not designated local significant tribal resources (Appendix CUL).
Two archaeological resources were identified near the project site. One, to the north of the project
site, is a shell midden site which has been completely disturbed. A past habitation site was
discovered and excavated to the east of the eastern project site. The City would implement
mitigation measures MM 3.4.2a, MM 3.4.2b, MM 3.4.2c(see Section 3.4, Cultural Resources) and
would require the project to keep a qualified archaeologist on-site and stop work in case of a
cultural resources find.
The project would also comply with the requirements of California Health and Safety Code Section
7050.5(b) related to previously undiscovered cultural and paleontological resources and human
remains, and with California Public Resources Code Section 5097.98 protocol if Native American
remains are discovered. Therefore, the project would have a less than significant impact on
undiscovered tribal cultural resources.
Mitigation Measures
No additional mitigation required.
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3.0.3 REFERENCES
California Department of Conservation. 2007. San Mateo County Williamson Act FY 2006/2007.
http://www.conservation.ca.gov/dlrp/lca.
———. 2014. San Mateo County Important Farmland 2014.
http://www.conservation.ca.gov/dlrp/fmmp/Pages/SanMateo.aspx.
South San Francisco, City of. 2011a. El Camino Real/Chestnut Avenue Area Plan – General Plan
Amendment.
———. 2011b. City of South San Francisco El Camino Real/Chestnut Avenue Area Plan, and
associated General Plan Amendment, and Zoning Ordinance Amendment. Final
Environmental Impact Report.
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3.1 – AESTHETICS
3.1 AESTHETICS
City of South San Francisco Community Civic Campus Project
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3.1-1
This section describes the project area’s existing visual character and aesthetic resources and
discusses the potential impacts associated with project implementation. Potential visual impacts
are studied from a localized context in the area immediately surrounding the eastern and
western project sites.
3.1.1 SEIR IMPACT SUMMARY
A summary of the project impact conclusions related to aesthetics is provided below.
Impact Number Impact Topic Impact Significance
3.1.1 Have a substantial adverse effect on a scenic vista Less than significant
3.1.2 Substantially damage scenic resources within a state
scenic highway No impact
3.1.3 Have a substantial adverse effect on the existing visual
character of the site and its surroundings Less than significant
3.1.4 Create a substantial new source of light or glare Less than significant
3.1.5 Cumulative impacts to visual resources and aesthetics Less than cumulatively considerable
Impacts identified in the El Camino Real/Chestnut Avenue Area Plan Environmental Impact
Report (ECR/C EIR) are summarized with the project impacts in subsection 3.1.4.
3.1.2 EXISTING SETTING
ECR/C AREA PLAN SETTING
The ECR/C Area Plan consists of 98 acres of developed land along El Camino Real in South San
Francisco. South San Francisco has views of San Bruno Mountain to the northwest, Skyline
Boulevard to the west, and the San Francisco Bay to the east. The city has hills on three sides and
flatlands along the San Francisco Bay. The plan area is a transportation route and commercial
center that serves as one of South San Francisco’s primary corridors. Uses include major
employers such as See’s Candies and Kaiser Permanente as well as supermarkets, housing, and
mass transit infrastructure (the South San Francisco BART station). Views of San Bruno Mountain
and Sign Hill are available from the plan area.
The plan area consists of El Camino Real, Chestnut Avenue, and Mission Road. El Camino Real is
an eight-lane road with a median, narrow sidewalks, and little pedestrian activity. It is a winding
street with an inconsistent character, as some areas have been redeveloped and others have
not. Major travel along El Camino Real is by vehicle so the visual experience is limited to what
can be seen from inside the vehicle. Chestnut Avenue is an arterial that intersects with El
Camino Real and has narrow sidewalks. Mission Road is wide with narrow sidewalks. The street
pedestrian and bicycle environment is poorly defined with narrow sidewalks and marginal
landscaping. Uses along Mission Road vary and include residential, civic, commercial, and
office space. According to the ECR/C EIR, the visual character in the plan area has a lack of
continuity and no specific identity.
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PROJECT SITE SETTING
Visual Character
Visual character is the overall impression of a landscape created by its unique combination of
visual features such as landform, vegetation, water, and structures. Scenic quality is a measure
of the degree to which these elements blend to create a landscape that is visually pleasing to a
viewer. Viewer sensitivity informs the degree to which changes in visual quality may be
considered significant.
The project site is approximately 8.2 acres encompassing two noncontiguous sites. The project
site is divided by El Camino Real, as shown on Figure 2.0-2, Project Location.
The western project site is approximately 2.2 acres and contains the existing Municipal Services
Building, which is a one-story building containing municipal offices and a fire station. The western
portion of the site is a surface parking lot. Surrounding land uses include commercial and
medium-density multi-family residential lots. Commercial uses are located along the southern
border of the site fronting the neighboring streets. The visual character of the western project site
is that of a developed urban area with office uses. The existing office building is a repurposed
retail store that is designed with a Spanish architectural style with brick arches, earth-toned
paint, and a tile roof.
The eastern project site measures approximately 6 acres and is bisected by Antoinette Lane. An
existing commercial retail store and parking lot are located to the east of Antoinette Lane. A
paved area used for parking access to BART, a utility building, undeveloped land, and
vegetation are located to the west. Colma Creek and the Centennial Way Trail are located
immediately to the east of the eastern project site. Colma Creek is channelized in the project
area. East of Antoinette Lane, the project site’s visual character is that of a strip mall, with a
parking lot fronting Chestnut Avenue and a retail location set back from the road. West of
Antoinette Lane, the project site’s visual character is defined by the existing urban vacant lot,
with chain-link fences, asphalt paving, and a mixture of ornamental and weedy vegetation.
The project site’s visual character is dominated by urban uses. The area is built up, with
commercial and single- and multi-family uses that add to the area’s visual character as an
urban center. Views in the foreground are of developed commercial buildings. Background
views are of residential development. The visual characterizes of the area have not significantly
changed since the 2011 ECR/C EIR was completed.
Scenic Vistas
The City of South San Francisco General Plan does not officially designate any scenic vistas in
the city. However, the project site has views of San Bruno Mountain, which is the northernmost
part of the Santa Cruz range. It also has a view of Sign Hill, which is home to a national historic
landmark. While the hill can be seen, views of the actual sign from the area are limited due to
existing buildings. These visual resources are of regional importance and thus are considered as
scenic vistas in this Draft SEIR.
Scenic Routes
There are no officially designated or designated scenic highways in the project vicinity.
Interstate 280 (I-280) is approximately 0.9 mile from the project site and is the closest officially
designated scenic highway. I-280 is not within view of the project site, nor are there views of the
site from the freeway. Additionally, the City’s General Plan does not designate any local scenic
roads.
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Light and Glare
The project site is currently surrounded by development with existing sources of light and glare.
Commercial development, private residences, streetlights, and billboards emit visible light near
the project site. Building windows of project site and neighboring buildings, as well as the
windshields of vehicles passing the project site on adjacent streets, are the major sources of
glare in the area.
3.1.3 REGULATORY FRAMEWORK
FEDERAL AND STATE
There are no federal or state laws or regulations that are directly applicable to the project.
LOCAL
City of South San Francisco General Plan
The Land Use and Planning Sub-Areas elements of the General Plan contain the following
policies that are relevant to the analysis of air quality impacts:
Chapter 2: Land Use
2-G-1 Preserve the scale and character of established neighborhoods, and protect
residents from changes in non-residential areas.
2-I-3 Undertake planned development for unique projects or as a means to achieve
high community design standards, not to circumvent development intensity
standards.
Chapter 3: Planning Sub-Areas
3.4-G-1 Develop El Camino Real as a boulevard, that accommodates its role as a
regional corridor but with streetscape and development that provide identify to
the street.
3.4-I-1 Work with Caltrans and other agencies to implement the El Camino Real
Landscape Conceptual Master Plan for the entire stretch of El Camino Real
through South San Francisco
3.4-1-2 Prepare and implement an El Camino Real overlay district in the City’s Zoning
Ordinance that provides development standards that further El Camino’s
development as a mixed-use use boulevard, accommodating the need for both
auto-oriented uses as well as designated pedestrian-oriented centers.
Regulations should include:
Consistent maximum height of 50 feet regardless of the underlying use, with a
maximum height of 80 feet in two areas: the BART station area, and the
Chestnut/El Camino Real area;
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No minimum front setback requirements, provided active uses are located
adjacent to streets, and performance-oriented building transparency and other
standards specified in the Zoning Ordinance are maintained;
Requirements for awnings, shade, building transparency for designated
pedestrian areas; and
Landscape requirements.
El Camino Real/Chestnut Avenue Area Plan
Section 1.2, Building Heights, establishes an 80-foot maximum building height for the plan area,
with 120 feet possible with discretionary approval. Relevant policies include:
H-I Maintain building heights along El Camino Real in concert with those
established for the southern portion of the corridor. Allow taller buildings north
of Chestnut Avenue, reflecting the area's proximity to BART and open space
amenities.
H-2 Establish an overall typical height range between four and six stories, with
residential towers reaching up to 12 stories in select locations.
H-3 Require building heights to vary within individual blocks, and do not permit
monolithic, bulky developments. Taller towers may be appropriate on all
blocks and should be distributed to provide both a dense urban fabric and
sufficient open spaces.
Section 1.3, Urban Design and the Public Realm, contains the following policies related to
aesthetics:
UD-6 Establish a comprehensive urban design scheme that specifies a palette for
landscaping, pedestrian amenities, and architectural features. The scheme
should visually unite the entire area, highlight open space and Centennial Way,
and signal key destinations to passing vehicular traffic.
UD-8 Require high-quality design that reflects the area's visibility and role as a
community destination.
UD-9 Ensure that mid- and high-rise development is slender, and that towers are
staggered to allow for sunlight and views into open spaces and from adjacent
development.
UD-11 Scale development along pedestrian connections and pedestrian-oriented retail
streets to a finer grain with highly articulated facades, changes in materials,
ample fenestration and entries. Employ building step-backs to ensure sunlight into
open spaces and streets.
UD-20 Design streetscape improvements consistent with Figure 3-5.
UD-21 Create a unique identity for the new Civic District, with distinctive street trees,
signage, crosswalk improvements, and other streetscape elements.
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UD-22 Integrate parks and plazas throughout new development along pedestrian
connections, Centennial Way and Colma Creek to create a cohesive and
connected public realm.
UD-23 Emphasize sight lines and access to public spaces and parks via pedestrian
connections through development, landscaping, and signage.
UD-24 Equip pedestrian-oriented streets with trees, benches, outdoor seating, kiosks, and
other amenities.
The plan’s design guidelines include the following policies regarding aesthetics:
DG-1 All buildings above five stories should incorporate a distinct base, middle, and
top. The middle of the building should be stepped back from the base an
average of 6 to 10 feet and the top should be further distinguished with a step
back and/or architectural features.
DG-2 The apparent bulk of a building should be reduced by segmenting it into smaller
masses that correspond to the internal function of the building. Repetitive
elements or monolithic treatments should be avoided.
DG-3 Adjacent buildings and buildings on the same block should exhibit variation in
height and massing.
DG-4 Buildings should establish a street wall that defines the physical space of the
street. Along Chestnut Avenue and the Centennial Way pedestrian district, the
height of the building base should be consistently 40 to 50 feet.
DG-5 Towers should be spaced to allow sunlight, air, and privacy for tenants while
maintaining views and natural light at the street level.
DG-6 Towers should be slender in order to minimize the casting of large shadows and
reducing apparent bulk at lower floors. Where large floorplates are necessary on
lower floors, middle and upper floors should taper, step back, or otherwise
employ a reduction in massing.
DG-7 Buildings should be well articulated by changes in roof heights and vertical
planes to reduce the appearance of bulk and create interesting building
silhouettes.
DG-8 Buildings should be designed with architectural features and openings that
accentuate mid-block pedestrian connections, connections to Centennial Way
and Colma Creek, and easy access to structured parking.
DG-9 All building surfaces should be articulated with three-dimensional elements that
create a visual play of light and shadow. Building design should incorporate
features such as balconies, recesses, signage, reveals, brackets, cornices at the
roof and at the top of the ground floor, piers at the corners, and structural bays.
DG-10 Structural and detail elements should be layered to provide visual variety and
depth.
DG-11 Buildings should be designed to ensure unified and harmonious facades,
integrating all elements, including signs, balconies, and building entrances.
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Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.1-6
DG-12 Blank walls should be limited along streets, the Centennial Way pedestrian district,
and public spaces.
DG-29 Exterior building materials should be brick, stucco, concrete block, painted wood
clapboard, painted metal clapboard or other quality, durable materials. A
unified palette of materials should be used on all sides of a building.
DG-31 For buildings that front onto Centennial Way, lighter exterior colors with high
reflectance should be used to maximize daylight onto the public open space.
DG-32 Glazing should be clear or lightly-tinted and non-reflective.
DG-34 The tower portions of buildings should be lighter with high reflectance, without
causing glare, in order to ensure higher daylight levels at streets and sidewalks.
3.1.4 IMPACTS AND MITIGATION MEASURES
STANDARDS OF SIGNIFICANCE
The impact analysis provided below is based on the application of the California Environmental
Quality Act (CEQA) Guidelines Appendix G thresholds of significance. A project is considered to
have significant impacts if implementation of the project would:
1) Have a substantial adverse effect on a scenic vista.
2) Substantially damage scenic resources, including, but not limited to, trees, rock
outcroppings, and historic buildings within a state scenic highway.
3) Substantially degrade the existing visual character or quality of the site and its
surroundings.
4) Create a new source of substantial light or glare that would adversely affect day or
nighttime views in the area.
Changes in the CEQA Guidelines
There have been no changes in the CEQA Guidelines since 2011 that are relevant to the analysis
of aesthetics impacts.
METHODOLOGY
The following impact analysis is based on a comparison of impacts from the original ECR/C EIR
with potential project impacts.
Generally, the key factors in determining the potential impact on visual character and quality
are based on overall visual change/contrast, dominance, and view blockage. An adverse visual
impact may occur when a project (1) perceptibly and substantially changes the existing
physical features of the landscape that are characteristic of the region or locale; (2) introduces
new features to the physical landscape that are perceptibly uncharacteristic of the region or
locale or that become visually dominant from common view points; or (3) blocks or completely
obscures scenic resources in the landscape.
3.1 AESTHETICS
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.1-7
PROJECT IMPACTS AND MITIGATION MEASURES
Have a Substantial Adverse Effect on a Scenic Vista (Standard of Significance 1)
Impact 3.1.1 Project implementation would not substantially degrade the visual character
or quality of the project area. This impact would be less than significant.
2011 ECR/C Area Plan EIR Impacts
The ECR /C EIR identified that new development could affect scenic views of San Bruno
Mountain and Sign Hill from some viewpoints in the area. However, development standards
based on policies in the Area Plan limit tower dimensions and require a minimum tower
separation. Design guidelines in the plan would help ensure that views of Sign Hill and San Bruno
Mountain would be available. Additionally, such views from public streets and intersections
would remain uninterrupted. As such, according to the ECR/C EIR, compliance with the City’s
Zoning Ordinance and the Area Plan’s policies and design guidelines would ensure a less than
significant impact on scenic views of Sign Hill and San Bruno Mountain (South San Francisco
2011b, p. 3.8-9).
Subsequent Project Impacts
A scenic vista is typically considered a location from which the public can experience unique
and exemplary high-quality views of an area. While not officially designated as scenic vistas,
Sign Hill and San Bruno Mountain are local areas of scenic importance. Sign Hill is approximately
0.9 mile to the east of the eastern project site, and San Bruno Mountain is approximately 1.75
miles north.
Sign Hill is clearly visible from the eastern project site, but ornamental trees block a direct view
from the western project site. Casual views of San Bruno Mountain are visible from both the
eastern and western project sties. Project development on the western project site would not
impact views to either scenic vista because the new fire station would not be taller than the
existing building. Further, public sight lines along public streets would not be impacted. The new
fire station would not change views of these scenic resources and would be similar to existing
uses.
Development on the eastern project site would not impact views of Sign Hill as they are only
partially visible due to existing trees and development. As such, project development would not
further impact such views. Additionally, the project would not modify views from public streets
towards Signal Hill.
Views to San Bruno Mountain could be impacted by the new development on the eastern
project site. However, views from Antoinette Lane would not be blocked. The proposed
development would be placed in a manner that would still allow viewing corridors from public
streets. Additionally, the project would comply with height limits in the ECR/C Area Plan, which
would reduce impacts on the sight lines. Therefore, the revised project’s impact would continue
be less than significant.
Project buildings would be visible from Sign Hill and San Bruno Mountain. However, the areas
surrounding the project sites are developed and new construction would blend with existing
structures. Views from both scenic vistas would not be severely impacted, and the revised
project’s impact would continue to be less than significant.
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Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.1-8
Mitigation Measures
None required.
Substantially Damage Scenic Resources within a State Scenic Highway (Standard of Significance 2)
Impact 3.1.2 Project implementation would not substantially damage scenic resources
within view of a state scenic highway. Therefore, the project would have no
impact.
2011 ECR/C Area Plan EIR Impacts
The ECR/C EIR determined there would be no impact on state scenic highways (South San
Francisco 2011b, p. 3.8-7).
Subsequent Project Impacts
There have been no changes to officially designated scenic highways in the project vicinity since
certification of the ECR/C EIR. As such, the revised project would continue to have no impact on a
state scenic highway.
Mitigation Measures
None required.
Have a Substantial Adverse Effect on the Existing Visual Character of the Site and Its
Surroundings (Standard of Significance 3)
Impact 3.1.3 Project implementation would not substantially degrade the visual character
or quality of the project area. This impact would be less than significant.
2011 ECR/C Area Plan EIR Impacts
The ECR/C EIR concluded that implementation of the ECR/C Area Plan would improve the
existing visual character of the plan area. The development standards established to govern
new construction would be an integrated package of requirements for the street and building
interface, land use, building height, and building setbacks. The ECR/C EIR found that these
provisions would minimize adverse aesthetic impacts and ensure harmony with the scale and
character of existing surrounding development. The plan would implement a comprehensive
urban design scheme and implement policies that would ensure common design elements
across the planning area. As such, the ECR/C EIR found impacts on the existing visual character
would be beneficial (South San Francisco 2011b, p. 3.8-7).
Subsequent Project Impacts
As described above, the existing visual character of the western project site is that of an urban
area developed with public office building, designed with a Spanish architectural style. The
project would demolish the existing Municipal Services Building, and construct a fire station on a
portion of the site. The fire station would retain the visual character of an urban public facility
and would include a parking lot. The fire station would be subject to the ECR/C Area Plan’s
design guidelines and therefore would be consistent with the City’s aesthetic vision for the area.
The change in land use designation would allow future mixed uses to be developed on the site.
Any future project would be subject to the City’s design guidelines, and environmental impacts
on aesthetics would be reduced through the design review process.
3.1 AESTHETICS
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.1-9
The Community Civic Campus on the eastern project site would result in permanent land use
changes on the site. The visual character would change from an urban vacant lot and retail
location to public facilities. However the project would be consistent with the visual character of
the plan area. Public uses exist in the project vicinity and are allowed in areas with an ECR/C
Mixed Use North High Intensity land use designation. The project would be subject to the ECR/C
Area Plan’s design guidelines, and therefore would be consistent with the City’s vision for the
area.
Based on the existing visual character of the project site and compliance with the City’s design
guidelines, the project would not substantially degrade the visual character of the area. As such,
the revised project’s impact would be less than significant.
Mitigation Measures
None required.
Create a Substantial New Source of Light or Glare (Standard of Significance 4)
Impact 3.1.4 Project implementation would not create a substantial new source of light or
glare in the project area. This impact would be less than significant.
2011 ECR/C Area Plan EIR Impacts
The ECR/C EIR concluded that impacts of the original ECR/C Area Plan from construction and
operation as a result of light and glare would be less than significant because the planning area
is highly developed and has a number of existing light sources. The ECR/C Area Plan would allow
residential uses in the planning area, which may increase the amount of nighttime lighting.
Nighttime lighting impacts are significant when they interfere with or intrude into neighboring
residences. Light pollution is typically related to the use of high voltage light fixtures with
inadequate shields and improper positioning or orientation. Compliance with the City’s Zoning
Ordinance, which contains general standards for lighting as well as standards that control
outdoor artificial light, would reduce potentially significant long-term light and glare impacts to
less than significant levels (South San Francisco 2011b, p. 3.8-11).
Subsequent Project Impacts
The eastern project site contains an existing retail location and vacant land. Project construction
would add building-mounted outdoor light fixtures, parking lot lights, and light escaping from
building windows to the area. Project nighttime light would be similar to the existing conditions
on the portion of the site occupied by the existing retail location.
Proposed development on the vacant portion of the project site would increase nighttime
lighting and glare. Nonetheless, all new lighting would be subject to the City’s Zoning Ordinance,
which contains general standards for lighting as well as standards that control outdoor artificial
light. Implementation of existing standards would reduce impacts from project nighttime lighting,
and therefore the revised project would continue to have a less than significant impact.
The project would also include the development of new public uses that would introduce new
elements of glare in the project area. Current sources of glare originate from passing cars and
from existing structures on and around the project site. The project would entail uses that are
similar to those surrounding the project area and would comply with City standards regarding
architectural materials. These include design guidelines DG-29, DG-31, DG-32, and DG-34, which
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Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.1-10
control building materials and the potential glare created by new construction. Therefore, the
revised project would continue to have a less than significant impact due to glare.
Mitigation Measures
None required.
3.1.5 CUMULATIVE SETTING, IMPACTS, AND MITIGATION MEASURES
CUMULATIVE SETTING
The cumulative setting associated with the project includes the project site in conjunction with
other development in the vicinity. Continued growth in the region has the potential to contribute
to potential conflicts relative to aesthetics and visual resources.
CUMULATIVE IMPACTS AND MITIGATION MEASURES
Cumulative Impacts to Visual Resources and Aesthetics
Impact 3.1.5 Project implementation would not result in a cumulative impact to aesthetics
and visual resources. The impact would be less than cumulatively
considerable.
2011 ECR/C Area Plan EIR Impacts
The ECR/C EIR concluded that cumulative aesthetics impacts would be less than significant.
Subsequent Project Impacts
The project would construct the new community civic campus and fire station. As discussed
above, the project would not impact the area’s visual character and quality. Additionally, all
other development in the planning area, the project included, would comply with the City’s
Zoning Ordinance, plan policies, and design guidelines. As such, the revised project’s impact
would continue to be less than cumulatively considerable.
Mitigation Measures
None required.
3.1 AESTHETICS
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.1-11
3.1.6 REFERENCES
Caltrans (California Department of Transportation). 2017. Officially Designated State Scenic
Highways. Accessed February 2017.
http://www.dot.ca.gov/hq/LandArch/scenic/schwy.htm.
South San Francisco, City of. 2011a. El Camino Real/Chestnut Avenue Area Plan – General Plan
Amendment.
———. 2011b. City of South San Francisco El Camino Real/Chestnut Avenue Area Plan, and
associated General Plan Amendment, and Zoning Ordinance Amendment. Final
Environmental Impact Report.
———. 2014. South San Francisco General Plan.
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3.2 – AIR QUALITY
3.2 AIR QUALITY
City of South San Francisco Community Civic Campus Project
July2017 Draft SEIR
3.2-1
This section examines the air quality for the project, includes a summary of applicable air quality
regulations, and analyzes potential air quality impacts associated with the proposed project.
3.2.1 SEIR IMPACT SUMMARY
A summary of the Community Civic Campus Project impact conclusions related to air quality is
provided below.
Impact
Number Impact Topic Subsequent EIR Impact Significance
3.2.1 Conflict with or obstruct implementation of the 2017
Clean Air Plan Less than significant
3.2.2
Violate an air quality standard or contribute
substantially to an air quality violation during short- or
long-term operations
Less than significant with mitigation
3.2.3 Expose sensitive receptors to substantial pollutant
concentrations Less than significant with mitigation
3.2.4 Expose sensitive receptors to odorous emissions Less than significant
3.2.5 Cumulative air quality impacts Less than cumulatively considerable with
mitigation
Impacts identified in the El Camino Real/Chestnut Avenue Area Plan Environmental Impact
Report (ECR/C EIR) are summarized with the project impacts in subsection 3.2.4.
3.2.2 EXISTING SETTING
ECR/C AREA PLAN SETTING
The project area is urbanized with residential, commercial, and institutional land uses, located
approximately 2.5 miles west of the San Francisco Bay. The project area is located in the San
Francisco Bay Area Air Basin (SFBAAB). Northwest winds are the most common in South San
Francisco and occur throughout the year. The persistent winds result in relatively low air pollution
as the breeze moves pollutants out of the city.
The US Environmental Protection Agency (EPA) has identified six criteria air pollutants for which
state and national health-based ambient air quality standards have been established. These
pollutants are ozone (O3), carbon monoxide (CO), nitrogen dioxide (NO2), sulfur dioxide (SO2),
particulate matter (PM10 and PM2.5), and lead. PM10 and PM2.5 consist of particulate matter that is
10 microns or less in diameter and 2.5 microns or less in diameter, respectively. The region is
nonattainment for federal O3 and PM2.5 standards, as well as for state O3, PM10, and PM2.5
standards (BAAQMD 2015).
PROJECT SITE SETTING
Topography
The SFBAAB’s topography is characterized by complex terrain, consisting of coastal mountain
ranges, inland valleys, and bays. This complex terrain, especially the higher elevations, distorts
the normal wind flow patterns in the air basin. Although air pollution potential is strongly
influenced by climate and topography, the air pollution that occurs in a location also depends
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Draft SEIR July 2017
3.2-2
on the amount of air pollutant emissions in the surrounding area or those that have been
transported from more distant places. Air pollutant emissions generally are highest in areas that
have high population densities, high motor vehicle use, and/or industrialization. Contaminants
created by photochemical processes in the atmosphere, such as ozone, may result in high
concentrations many miles downwind from the sources of their precursor chemicals (BAAQMD
2011).
Meteorology and Climate
During the summer, the large-scale meteorological condition that dominates the West Coast is a
semi-permanent high-pressure cell over the Pacific Ocean. This high-pressure cell keeps storms
from affecting the California coast. Hence, the SFBAAB experiences little precipitation in the
summer months. Winds tend to blow onshore out of the north-northwest. Generally in the winter,
the Pacific high-pressure cell weakens and shifts southward, winds tend to flow offshore,
upwelling ceases, and storms occur. During the winter rainy periods, inversions (layers of warmer
air over colder air; see below) are weak or nonexistent, winds are usually moderate, and air
pollution potential is low. The Pacific high-pressure cell periodically becomes dominant, bringing
strong inversions, light winds, and high pollution potential (BAAQMD 2011).
During the summer, winds flowing from the northwest are drawn inland through the Golden Gate
and over the lower portions of the San Francisco Peninsula. This channeling of wind through the
Golden Gate produces a jet that sweeps eastward and splits off to the northwest toward
Richmond and to the southwest toward San Jose when it meets the East Bay hills. In the winter,
the SFBAAB frequently experiences stormy conditions with moderate to strong winds, as well as
periods of stagnation with very light winds. Winter stagnation episodes are characterized by
nighttime drainage flows in coastal valleys (BAAQMD 2011).
During rainy periods, ventilation (rapid horizontal movement of air and injection of cleaner air)
and vertical mixing are usually high, and thus pollution levels tend to be low. However, frequent
dry periods occur during the winter in which mixing and ventilation are low and pollutant levels
build up (BAAQMD 2011).
Summertime temperatures in the SFBAAB are determined in large part by the effect of
differential heating between land and water surfaces. Because land tends to heat up and cool
off more quickly than water, a large-scale gradient (differential) in temperature is often created
between the coast and the Central Valley, and small-scale local gradients are often produced
along the shorelines of the ocean and bays. The temperature gradient near the ocean is also
exaggerated, especially in summer, because of the upwelling of cold ocean bottom water
along the coast. On summer afternoons, the temperatures at the coast can be 35°F cooler than
temperatures 15 to 20 miles inland. At night, this contrast usually decreases to less than 10°F.
In the winter, the relationship of minimum and maximum temperatures is reversed. During the
daytime, the temperature contrast between the coast and inland areas is small, whereas at
night the variation in temperature is large (BAAQMD 2011).
Peninsula Climatological Subregion
Eleven major climatological subregions make up the SFBAAB. South San Francisco is located in
the Peninsula climatological subregion of the San Francisco Bay Area Air Basin. This subregion
extends from northwest of San Jose to the Golden Gate Bridge. The Santa Cruz Mountains run up
the center of the Peninsula, with elevations exceeding 2,000 feet at the southern end and
decreasing to 500 feet in South San Francisco. Coastal towns experience a high incidence of
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3.2-3
cool, foggy weather in the summer. Cities in the southeastern Peninsula climatological subregion
experience warmer temperatures and fewer foggy days because the marine layer is blocked by
the ridgeline to the west. The blocking effect of the Santa Cruz Mountains results in variations in
summertime maximum temperatures in different parts of the climatological subregion. For
example, in coastal areas and San Francisco, the mean maximum summer temperatures are in
the mid 60s, while in Redwood City, the mean maximum summer temperatures are in the low
80s. Mean minimum temperatures during the winter months are in the high 30 s to low 40s on the
eastern side of the Peninsula and in the low 40s on the coast.
Two important gaps in the Santa Cruz Mountains occur on the Peninsula. The larger of the two is
the San Bruno Gap, extending from Fort Funston on the ocean to San Francisco International
Airport. The other gap is the Crystal Springs Gap, between Half Moon Bay and San Carlos. As the
sea breeze strengthens on summer afternoons, the Crystal Springs Gap permits maritime air to
pass across the mountains.
Annual average wind speeds range from 5 to 10 miles per hour throughout the Peninsula, with
higher wind speeds usually found along the coast. Wind speeds on the eastern side of the
climatological subregion are often high in certain areas, such as near the San Bruno Gap and
the Crystal Springs Gap. The prevailing winds along the Peninsula’s coast are from the west,
although individual sites can show significant differences. For example, Fort Funston in western
San Francisco shows a southwest wind pattern, while Pillar Point in San Mateo County shows a
northwest wind pattern. On the east side of the mountains, winds are generally from the west,
although wind patterns in this area are often influenced greatly by local topographic features.
Air Pollution Potential
Air pollution potential is highest along the southeastern portion of the subregion, as this is the
area most protected from the high winds and fog of the marine layer. Pollutant transport from
upwind sites is common. In the southeastern portion of the Peninsula climatological subregion,
air pollutant emissions are relatively high due to motor vehicle traffic and stationary sources
(BAAQMD 2011).
Atmospheric Conditions
The hills and mountains in the SFBAAB contribute to the high pollution potential of some areas.
An inversion is a layer of warmer air over a layer of cooler air. Inversions affect air quality
conditions significantly because they influence the mixing depth, i.e., the vertical depth in the
atmosphere available for diluting air contaminants near the ground. The highest air pollutant
concentrations in the SFBAAB, and therefore in South San Francisco, generally occur during
inversions.
The areas having the highest air pollution potential also tend to be those that experience the
highest temperatures in the summer and the lowest temperatures in the winter. The frequency of
hot, sunny days during the summer months in the SFBAAB is another important factor that affects
air pollution potential. Ozone is formed at the higher temperatures. In the presence of ultraviolet
sunlight and warm temperatures, reactive organic gases and oxides of nitrogen react to form
secondary photochemical pollutants, including ozone. Because temperatures in many of the air
basin’s inland valleys are so much higher than near the coast, the inland areas are especially
prone to photochemical air pollution. In late fall and winter, solar angles are low, resulting in
insufficient ultraviolet light and warming of the atmosphere to drive the photochemical
reactions. Ozone concentrations do not reach significant levels in the SFBAAB during these
seasons (BAAQMD 2011).
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Draft SEIR July 2017
3.2-4
Emissions Sources
Although air pollution potential is strongly influenced by climate and topography, the air
pollution that occurs in a location also depends on the amount of air pollutant emissions in the
surrounding area or those that have been transported from more distant places. Air pollutant
emissions generally are highest in areas that have high population densities, high motor vehicle
use, and/or industrialization. Contaminants created by photochemical processes in the
atmosphere, such as ozone, may result in high concentrations many miles downwind from the
sources of their precursor chemicals (BAAQMD 2011).
AIR POLLUTANTS OF CONCERN
Air pollutants emitted into the ambient air by stationary and mobile sources are regulated by
federal and state law. These regulated air pollutants are known as criteria air pollutants and are
categorized into primary and secondary pollutants. Primary air pollutants are those that are
emitted directly from sources. Carbon monoxide, reactive organic gases (ROG), nitrogen oxide
(NOX), sulfur dioxide, and coarse and fine particulate matter are primary air pollutants. Of these,
CO, SO2, PM10, and PM2.5 are criteria pollutants. ROG and NOX are criteria pollutant precursors
and go on to form secondary criteria pollutants through chemical and photochemical reactions
in the atmosphere. Ozone and nitrogen dioxide are the principal secondary pollutants.
Presented in Table 3.2-1 are descriptions of each of the primary and secondary criteria air pollutants
and their known health effects.
TABLE 3.2-1
CRITERIA AIR POLLUTANTS SUMMARY OF COMMON SOURCES AND EFFECTS
Pollutant Major Man-Made Sources Human Health Effects
Carbon Monoxide
(CO)
An odorless, colorless gas formed when
carbon in fuel is not burned completely; a
component of motor vehicle exhaust.
Reduces the ability of blood to deliver oxygen to
vital tissues, effecting the cardiovascular and
nervous system. Impairs vision, causes dizziness,
and can lead to unconsciousness or death.
Nitrogen Dioxide
(NO2)
A reddish-brown gas formed during fuel
combustion for motor vehicles, energy
utilities, and industrial sources.
Respiratory irritant; aggravates lung and heart
problems. Precursor to ozone and acid rain.
Contributes to nutrient overloading which
deteriorates water quality. Causes brown
discoloration of the atmosphere.
Ozone (O3) Formed by a chemical reaction between
reactive organic gases (ROGs) and nitrous
oxides (NOx) in the presence of sunlight.
Common sources of these precursor
pollutants include motor vehicle exhaust,
industrial emissions, solvents, paints, and
landfills.
Irritates and causes inflammation of the mucous
membranes and lung airways; causes wheezing,
coughing and pain when inhaling deeply;
decreases lung capacity; aggravates lung and heart
problems. Damages plants; reduces crop yield.
Particulate Matter
(PM10 & PM2.5)
Power plants, steel mills, chemical plants,
unpaved roads and parking lots, wood-
burning stoves and fireplaces,
automobiles and others.
Increased respiratory symptoms, such as irritation
of the airways, coughing, or difficulty breathing;
aggravated asthma; development of chronic
bronchitis; irregular heartbeat; nonfatal heart
attacks; and premature death in people with heart
or lung disease. Impairs visibility (haze).
Sulfur Dioxide
(SO2)
A colorless, nonflammable gas formed
when fuel containing sulfur is burned.
Examples are refineries, cement
manufacturing, metal processing facilities,
locomotives, and ships.
Respiratory irritant. Aggravates lung and heart
problems. In the presence of moisture and
oxygen, can damage marble, iron and steel;
damage crops and natural vegetation. Impairs
visibility.
Source: CAPCOA 2011
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3.2-5
AMBIENT AIR QUALITY
Ambient air quality in South San Francisco can be inferred from ambient air quality
measurements conducted at nearby air quality monitoring stations. Existing levels of ambient air
quality and historical trends and projections in the vicinity of South San Francisco are
documented by measurements made by the Bay Area Air Quality Management District
(BAAQMD), the air pollution regulatory agency in the air basin that maintains air quality
monitoring stations which process ambient air quality measurements.
Ozone, PM10, and PM2.5 are the pollutants most intensely affecting the SFBAAB. The Redwood
City air quality monitoring station (897 Barron Avenue in Redwood City), approximately 17 miles
to the southeast of the project site, monitors ambient concentrations of O3, PM10, and PM2.5.
Ambient emission concentrations will vary due to localized variations in emissions sources and
climate and should be considered generally representative of ambient concentrations in South
San Francisco. The concentrations of pollutants monitored at this station are representative of
South San Francisco because it is the closest monitoring station to the city and is located in the
same climatological subregion.
Table 3.2-2 summarizes the published data since 2012 from the Redwood City air quality
monitoring station for each year that monitoring data is provided.
TABLE 3.2-2
SUMMARY OF AMBIENT AIR QUALITY DATA
Pollutant Standards 2012 2013 2014 2015
Ozone
Max 1-hour concentration (ppm) 0.063 0.083 0.086 0.086
Max 8-hour concentration (ppm) (state/federal) 0.055 / 0.054 0.076 / 0.075 0.066 / 0.065 0.071 / 0.071
Number of days above state 1-hour standard 0 0 0 0
Number of days above state/federal 8-hour standard 0 / 0 0 / 0 0 / 0 1 / 0
Respirable Particulate Matter (PM10)
Max 24-hour concentration (µg/m3) (state/federal) — / — — / — — / — — / —
Number of days above state/federal standard — / — — / — — / — — / —
Fine Particulate Matter (PM2.5)
Max 24-hour concentration (µg/m3) (state/federal) 34.3 / 33.3 39.0 / 39.0 35.0 / 35.0 34.6 / 34.6
Number of days above federal standard 0 3.2 0 0
Source: CARB 2016
Notes: μg/m3 = micrograms per cubic meter; ppm = parts per million
— = No data is currently available from CARB to determine the value
As previously stated, O3, PM10, and PM2.5 are the pollutants most intensely affecting the SFBAAB.
The EPA and the State of California have established health-based ambient air quality standards
(CAAQS) for 11 air pollutants. As shown in Table 3.2-3, these pollutants are O3, CO, NO2, SO2,
PM10, PM2.5, sulfates, lead, hydrogen sulfide, vinyl chloride, and visibility-reducing particles. Air
quality standards are designed to protect the health and welfare of the populace with a
reasonable margin of safety. Table 3.2-3 also shows the federal and state attainment status for
the SFBAAB and thus for South San Francisco. Areas with air quality that exceed adopted air
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quality standards are designated as nonattainment areas for the relevant air pollutants, while
areas that comply with air quality standards are designated as attainment areas for the relevant
air pollutants. The SFBAAB’s current attainment status with regard to federal and state ambient
air quality standards is summarized in Table 3.2-3. The region is nonattainment for federal O3 and
PM2.5 standards, as well as for state O3, PM10, and PM2.5 standards (BAAQMD 2015).
TABLE 3.2-3
FEDERAL AND STATE AMBIENT AIR QUALITY ATTAINMENT STATUS FOR THE SAN FRANCISCO BAY AREA AIR BASIN
Pollutant Averaging Time
California Standards National Standards
Concentration Attainment
Status Concentration Attainment
Status
Ozone (O3)
8 Hours 0.070 ppm
(137µg/m3) N 0.075 ppm N
1 Hour 0.09 ppm
(180 µg/m3) N No standard Not applicable
Carbon
Monoxide (CO)
8 Hours 9.0 ppm
(10 mg/m3) A 9 ppm
(10 mg/m3) A
1 Hour 20 ppm
(23 mg/m3) A 35 ppm
(40 mg/m3) A
Nitrogen
Dioxide (NO2)
1 Hour 0.18 ppm
(339 µg/m3) A 0.100 ppm U
Annual
Arithmetic Mean
0.030 ppm
(57 µg/m3) U 0.053 ppm
(100 µg/m3) A
Sulfur Dioxide
(SO2)
24 Hours 0.04 ppm
(105 µg/m3) A 0.14 ppm
(365/µg/m3) A
1 Hour 0.25 ppm
(665 µg/m3) A 0.075 ppm
(196/µg/m3) A
Annual
Arithmetic Mean U 0.030 ppm
(80/µg/m3) A
Particulate
Matter (PM10)
Annual
Arithmetic Mean 20 µg/m3 N No standard Not applicable
24 Hours 50 µg/m3 N 150 µg/m3 U
Particulate
Matter – Fine
(PM2.5)
Annual
Arithmetic Mean 12 µg/m3 N 15 µg/m3 A
24 Hours U 35 µg/m3 N
Sulfates 24 Hours 25 µg/m3 A — —
Lead
30-Day Average 1.5 µg/m3 — A
Calendar Quarter — — 1.5 µg/m3 A
Rolling 3-Month
Average — — 0.15 µg/m3 —
Hydrogen
Sulfide 1 Hour 0.03 ppm
(42 µg/m3) U — —
Vinyl Chloride
(chloroethene) 24 Hours 0.01 ppm
(26 µg/m3)
No information
available — —
Visibility-
Reducing
Particles
8 Hours
(10:00 to 18:00
PST)
— — — —
Source: BAAQMD 2015
Notes: A=attainment; N=nonattainment; U=unclassified
mg/m3=milligrams per cubic meter; ppm=parts per million; ppb=parts per billion; µg/m3=micrograms per cubic meter
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Toxic Air Contaminants
In addition to the criteria air pollutants listed above, another group of pollutants, commonly
referred to as toxic air contaminants (TACs) or hazardous air pollutants, can result in health
effects that can be quite severe. The California Air Resources Board (CARB) (1999) has
designated 244 compounds as TACs. Many TACs are confirmed or suspected carcinogens, or
are known or suspected to cause birth defects or neurological damage. Secondly, many TACs
can be toxic at very low concentrations. For some chemicals, such as carcinogens, there are no
thresholds below which exposure can be considered risk-free.
Industrial facilities and mobile sources are significant sources of TACs. However, common urban
facilities also produce TAC emissions, such as gasoline stations (benzene), hospitals (ethylene
oxide), and dry cleaners (perchloroethylene). Automobile exhaust also contains TACs such as
benzene and 1,3-butadiene. In addition, diesel particulate matter (diesel PM) is a TAC. Diesel PM
differs from other TACs in that it is not a single substance but rather a complex mixture of
hundreds of substances. BAAQMD (2011) research indicates that mobile-source emissions of
diesel PM, benzene, and 1,3-butadiene represent a substantial portion of the ambient
background risk from toxic air contaminants in the San Francisco Bay Area Air Basin.
The health effects associated with TACs are diverse and generally are assessed locally rather
than regionally. TACs can cause long-term health effects such as cancer, birth defects,
neurological damage, asthma, bronchitis, or genetic damage, or short-term acute affects such
as eye watering, respiratory irritation (a cough), runny nose, throat pain, and headaches. For
evaluation purposes, TACs are separated into carcinogens and noncarcinogens based on the
nature of the physiological effects associated with exposure to the pollutant. Carcinogens are
assumed to have no safe threshold below which health impacts would not occur.
Noncarcinogenic substances differ in that there is generally assumed to be a safe level of
exposure below which no negative health impact is believed to occur. These levels are
determined on a pollutant-by-pollutant basis (BAAQMD 2011).
Sensitive Receptors
Some land uses are considered more sensitive to air pollution than others because of the types
of population groups or activities involved. Sensitive population groups include children, the
elderly, the acutely ill, and the chronically ill, especially those with cardiorespiratory diseases.
Residential areas are considered to be sensitive receptors to air pollution because residents
(including children and the elderly) tend to be at home for extended periods of time, resulting in
sustained exposure to any pollutants present. Children are considered more susceptible to the
health effects of air pollution due to their immature immune systems and developing organs
(OEHHA 2007). As such, schools are also considered sensitive receptors because children are
present for extended durations and engage in regular outdoor activities. Recreational land uses
are considered moderately sensitive to air pollution. Although exposure periods are generally
short, exercise places a high demand on respiratory functions, which can be impaired by air
pollution. In addition, noticeable air pollution can detract from the enjoyment of recreation.
3.2.3 REGULATORY FRAMEWORK
During construction and operation on the project site, there is potential that gaseous emissions
of criteria pollutants and dust would be emitted into the ambient air; therefore, development
activities fall under the ambient air quality standards promulgated at the local, state, and
federal levels. The federal Clean Air Act of 1971 and the Clean Air Act Amendments (1977)
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established the national ambient air quality standards (NAAQS), which are promulgated by the
EPA. The State of California has also adopted its own California ambient air quality standards,
which are promulgated by CARB. Implementation of the project would occur in the San
Francisco Bay Area Air Basin, which is under the air quality regulatory jurisdiction of the BAAQMD
and is subject to the rules and regulations adopted by the air district to achieve the national
and state ambient air quality standards. Federal, state, regional, and local laws, regulations,
plans, and guidelines are summarized below.
AMBIENT AIR QUALITY STANDARDS
The Clean Air Act established NAAQS, with states retaining the option to adopt more stringent
standards or to include other pollution species. These standards are the levels of air quality
considered to provide a margin of safety in the protection of the public health and welfare.
They are designed to protect those sensitive receptors most susceptible to further respiratory
distress such as asthmatics, the elderly, very young children, people already weakened by other
disease or illness, and persons engaged in strenuous work or exercise. Healthy adults can
tolerate occasional exposure to air pollutant concentrations considerably above these minimum
standards before adverse effects are observed.
Both the State of California and the federal government have established health-based
ambient air quality standards for six air pollutants. As shown in Table 3.2-4, these pollutants
include ozone, CO, NO2, SO2, PM10, PM2.5, and lead. In addition, the State has set standards for
sulfates, hydrogen sulfide, vinyl chloride, and visibility-reducing particles. These standards are
designed to protect the health and welfare of the populace with a reasonable margin of safety.
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TABLE 3.2-4
AIR QUALITY STANDARDS
Pollutant Averaging Time California Standards National Standards
Ozone (O3) 8 Hour 0.070 ppm (137µg/m3) 0.075 ppm
1 Hour 0.09 ppm (180 µg/m3) —
Carbon Monoxide (CO) 8 Hour 9.0 ppm (10 mg/m3) 9 ppm (10 mg/m3)
1 Hour 20 ppm (23 mg/m3) 35 ppm (40 mg/m3)
Nitrogen Dioxide (NO2) 1 Hour 0.18 ppm (339 µg/m3) 100 ppb
Annual Arithmetic Mean 0.030 ppm (57 µg/m3) 53 ppb (100 µg/m3)
Sulfur Dioxide (SO2)
24 Hour 0.04 ppm (105 µg/m3) N/A
3 Hour — N/A
1 Hour 0.25 ppm (665 µg/m3) 75 ppb
Particulate Matter (PM10) Annual Arithmetic Mean 20 µg/m3 N/A
24 Hour 50 µg/m3 150 µg/m3
Particulate Matter – Fine
(PM2.5)
Annual Arithmetic Mean 12 µg/m3 15 µg/m3
24 Hour N/A 35 µg/m3
Sulfates 24 Hour 25 µg/m3 N/A
Lead Calendar Quarter N/A 1.5 µg/m3
30 Day Average 1.5 µg/m3) N/A
Hydrogen Sulfide 1 Hour 0.03 ppm (42 µg/m3) N/A
Vinyl Chloride
(chloroethene) 24 Hour 0.01 ppm (26 µg/m3) N/A
Visibility-Reducing
Particles
8 Hour
(10:00 to 18:00 PST) — N/A
Source: BAAQMD 2015
Notes: mg/m3=milligrams per cubic meter; ppm=parts per million; ppb=parts per billion; µg/m3=micrograms per cubic meter
AIR QUALITY ATTAINMENT PLANS
The BAAQMD is responsible for preparing plans to attain ambient air quality standards in the air
basin. The BAAQMD prepares ozone attainment plans for the national ozone standard and
clean air plans for the California standard, both in coordination with the Metropolitan
Transportation Commission and the Association of Bay Area Governments.
With respect to applicable air quality plans, the BAAQMD prepared the 2017 Clean Air Plan to
address nonattainment of the national ozone standard in the San Francisco Bay Area Air Basin.
The Clean Air Plan defines a control strategy that the BAAQMD and its partners will implement to
(1) reduce emissions and decrease ambient concentrations of harmful pollutants; (2) safeguard
public health by reducing exposure to air pollutants that pose the greatest health risk, with an
emphasis on protecting the communities most heavily impacted by air pollution; and (3) reduce
greenhouse gas (GHG) emissions to protect the climate. The Clean Air Plan serves as a
multipollutant plan to protect public health and the climate. This effort to develop the
multipollutant air quality plan is a voluntary initiative by the BAAQMD. The district believes that an
integrated and comprehensive approach to planning is critical to respond to air quality and
climate protection challenges in the years ahead. In its dual role as an update to the state
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ozone plan and a multipollutant plan, the 2017 Clean Air Plan addresses four categories of
pollutants (BAAQMD 2017):
Ground‐level ozone and its key precursors, ROG and NOX
Particulate matter: primary PM2.5, as well as precursors to secondary PM2.5
Air toxics
Greenhouse gases
The Clean Air Plan provides local guidance for the State Implementation Plan (SIP), which
establishes the framework for air quality basins to achieve attainment of the state and federal
ambient air quality standards.
TOXIC AIR CONTAMINANT REGULATIONS
The California Health and Safety Code defines a TAC as “an air pollutant which may cause or
contribute to an increase in mortality or in serious illness, or which may pose a present or
potential hazard to human health.” The State of California regulates TACs primarily through
Assembly Bill (AB) 1807 (Tanner Air Toxics Act) and AB 2588 (Air Toxics “Hot Spot” Information and
Assessment Act of 1987).
The Tanner Air Toxics Act sets forth a formal procedure for CARB to designate substances as
TACs. Once a toxic air contaminant is identified, CARB adopts an “airborne toxics control
measure” for sources that emit designated TACs. If there is a safe threshold for a substance (a
point below which there is no toxic effect), the control measure must reduce exposure to below
that threshold. If there is no safe threshold, the measure must incorporate toxics best available
control technology to minimize emissions. CARB has, to date, established formal control
measures for 11 TACs, all of which are identified as having no safe threshold.
Air toxics from stationary sources are also regulated in California under the Air Toxics “Hot Spot”
Information and Assessment Act of 1987. Under AB 2588, TAC emissions from individual facilities
are quantified and prioritized by the air quality management district or air pollution control
district. High-priority facilities are required to perform a health risk assessment and, if specific
thresholds are exceeded, are required to communicate the results to the public in the form of
notices and public meetings. Stationary sources of air toxics in South San Francisco include
gasoline fuel stations, diesel-powered backup generators, and dry cleaning facilities.
Land Use Compatibility with TAC Emission Sources
The location of a development project is a major factor in determining whether it will result in
localized air quality impacts. The potential for adverse air quality impacts increases as the
distance between the source of emissions and members of the public decreases. While impacts
on all members of the population should be considered, impacts on sensitive receptors, such as
schools or hospitals, are of particular concern. CARB (2005) published an informational guide
entitled Air Quality and Land Use Handbook: A Community Health Perspective. The purpose of
this guide is to provide information to aid local jurisdictions in addressing issues and concerns
related to the placement of sensitive land uses near major sources of air pollution. The
handbook includes recommended separation distances between TAC sources and new
sensitive land uses. However, these recommendations are not site-specific and should not be
interpreted as mandated “buffer zones.” It is also important to note that the handbook’s
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recommendations are advisory and need to be balanced with other state and local policies
(CARB 2005). The recommended distances for potential TAC sources that are relevant to
evaluating proposed project impacts are listed in Table 3.2-5.
TABLE 3.2-5
RECOMMENDATIONS ON SITING NEW SENSITIVE LAND USES NEAR AIR POLLUTANT SOURCES
Source Category Advisory Recommendations
Freeways and High-Traffic
Roads
• Avoid siting new sensitive land uses within 500 feet of a freeway, urban roads
with 100,000 vehicles/day, or rural roads with 50,000 vehicles per day.
Dry Cleaners Using
Perchloroethylene
• Avoid siting new sensitive land uses within 300 feet of any dry cleaning
operation. For operations with two or more machines, provide 500 feet. For
operations with three or more machines, consult with the local air district.
• Do not site new sensitive land uses in the same building with perc. dry cleaners.
Gasoline Dispensing Facilities
• Avoid siting new sensitive land uses within 300 feet of a large gas station (defined
as a facility with a throughput of 3.6 million gallons per year or greater). A 50-
foot separation is recommended for typical gas dispensing facilities.
Source: CARB 2005
Notes: Recommendations are advisory, are not site-specific, and may not fully account for future reductions in emissions, including
those resulting from compliance with existing/future regulatory requirements, such as reductions in diesel-exhaust emissions anticipated
to occur with continued implementation of CARB’s Diesel Risk Reduction Plan.
California Diesel Risk Reduction Plan
CARB (2010) prepared and adopted the Diesel Risk Reduction Plan (DRRP), which recommends
many control measures to reduce the risks associated with diesel PM and achieve a reduction
goal of 85 percent by 2020. The DRRP incorporates measures to reduce emissions from diesel-
fueled vehicles and stationary diesel-fueled engines. CARB’s ongoing efforts to reduce diesel-
exhaust emissions from these sources include the development of specific statewide regulations,
which are designed to further reduce diesel PM emissions. The goal of each regulation is to
make diesel engines as clean as possible by establishing state-of-the-art technology
requirements or emissions standards to reduce diesel PM emissions.
Since initial adoption of the DRRP in September 2000, CARB has adopted numerous rules related
to the reduction of diesel PM from mobile sources, as well as the use of cleaner-burning fuels.
Transportation sources addressed by these rules pertaining to South San Francisco include public
transit buses, school buses, on-road heavy-duty trucks, and off-road heavy-duty construction
equipment.
BAY AREA AIR QUALITY MANAGEMENT DISTRICT
The BAAQMD attains and maintains air quality conditions in the San Francisco Bay Area Air Basin
through a comprehensive program of planning, regulation, enforcement, technical innovation,
and promotion of the understanding of air quality issues. The BAAQMD’s clean air strategy
includes the preparation of plans for the attainment of ambient air quality standards, adoption
and enforcement of rules and regulations concerning sources of air pollution, and issuance of
permits for stationary sources of air pollution. The BAAQMD also inspects stationary sources of air
pollution, responds to citizen complaints, monitors ambient air quality and meteorological
conditions, and implements programs and regulations required by the federal Clean Air Act, the
Clean Air Act Amendments, and the California Clean Air Act.
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Rules and Regulations
The BAAQMD develops regulations to improve air quality and protect the health and welfare of
Bay Area residents and their environment. BAAQMD rules and regulations most applicable to the
proposed project include, but are not limited to, the following:
Regulation 2, Rule 2: New Source Review. Requires any new source resulting in an
increase of any criteria pollutant to be evaluated for adherence to best available
control technology. For compression internal combustion engines, best available control
technology requires that the generator be fired on California diesel fuel (fuel oil with a
sulfur content less than 0.05 percent by weight and less than 20 percent by volume of
aromatic hydrocarbons). All stationary internal combustion engines larger than 50
horsepower must obtain a Permit to Operate. If the engine is diesel fueled, it must also
comply with the BAAQMD-administered Statewide Air Toxics Control Measure for
Stationary Diesel Engines.
Regulation 7: Odorous Substances. Establishes general limitations on odorous substances
and specific emission limitations on certain odorous compounds.
Regulation 8, Rule 3: Architectural Coatings. Limits the quantity of volatile organic
compounds in architectural coatings supplied, sold, offered for sale, applied, solicited for
application, or manufactured for use within the district.
Regulation 8, Rule 15: Emulsified and Liquid Asphalts. Limits the emissions of volatile
organic compounds caused by the use of emulsified and liquid asphalt in paving
materials and paving and maintenance operations.
Regulation 14: Mobile Source Emissions Reduction Measures. Includes measures to
reduce emissions of air pollutants from mobile sources by reducing motor vehicle use
and/or promoting the use of clean fuels and low-emission vehicles.
The above list includes rules and regulations most applicable to the proposed development of
the Community Civic Campus Project. Additional rules and regulations may apply, depending
on the sources proposed and the activities conducted.
BAAQMD Construction Mitigation Measures
The BAAQMD recommends quantifying a proposed project’s construction-generated emissions
by implementing the Basic Construction Mitigation Measures as mitigation for dust and exhaust
construction impacts in California Environmental Quality Act (CEQA) compliance
documentation. If additional construction measures are required to reduce construction-
generated emissions, the Additional Construction Mitigation Measures should then be applied.
Table 3.2-6 identifies the Basic and Additional Construction Mitigation Measures. In addition, all
projects must implement any applicable air toxic control measures. For example, projects that
have the potential to disturb asbestos (from soil or building materials) must comply with all the
requirements of CARB’s air toxic control measures for construction, grading, quarrying, and
surface mining operations.
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TABLE 3.2-6
BAAQMD BASIC AND ADDITIONAL CONSTRUCTION MITIGATION MEASURES
BAAQMD Basic Construction Mitigation Measures
1. All exposed surfaces (e.g., parking areas, staging areas, soil piles, graded areas, and unpaved access roads) shall be
watered two times per day.
2. All haul trucks transporting soil, sand, or other loose material off-site shall be covered.
3. All visible mud or dirt track-out onto adjacent public roads shall be removed using wet power vacuum street
sweepers at least once per day. The use of dry power sweeping is prohibited.
4. All vehicle speeds on unpaved roads shall be limited to 15 mph.
5. All roadways, driveways, and sidewalks to be paved shall be completed as soon as possible. Building pads shall be
laid as soon as possible after grading unless seeding or soil binders are used.
6. Idling times shall be minimized either by shutting equipment off when not in use or reducing the maximum idling
time to 5 minutes (as required by the California airborne toxics control measure Title 13, Section 2485 of California
Code of Regulations [CCR]). Clear signage shall be provided for construction workers at all access points.
7. All construction equipment shall be maintained and properly tuned in accordance with manufacturer’s
specifications. All equipment shall be checked by a certified visible emissions evaluator.
8. Post a publicly 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 48 hours. The air district’s phone number shall
also be visible to ensure compliance with applicable regulations.
BAAQMD Additional Construction Mitigation Measures
1. All exposed surfaces shall be watered at a frequency adequate to maintain minimum soil moisture of 12 percent.
Moisture content can be verified by lab samples or moisture probe.
2. All excavation, grading, and/or demolition activities shall be suspended when average wind speeds exceed 20 mph.
3. Wind breaks (e.g., trees, fences) shall be installed on the windward side(s) of actively disturbed areas of
construction. Wind breaks should have at maximum 50 percent air porosity.
4. Vegetative ground cover (e.g., fast-germinating native grass seed) shall be planted in disturbed areas as soon as
possible and watered appropriately until vegetation is established.
5. The simultaneous occurrence of excavation, grading, and ground-disturbing construction activities on the same area
at any one time shall be limited. Activities shall be phased to reduce the amount of disturbed surfaces at any one time.
6. All trucks and equipment, including their tires, shall be washed off prior to leaving the site.
7. Site accesses to a distance of 100 feet from the paved road shall be treated with a 6- to 12-inch compacted layer of
wood chips, mulch, or gravel.
8. Sandbags or other erosion control measures shall be installed to prevent silt runoff to public roadways from sites
with a slope greater than one percent.
9. Minimizing the idling time of diesel-powered construction equipment to 2 minutes.
10. The project shall develop a plan demonstrating that the off-road equipment (more than 50 horsepower) to be used
in the construction project (i.e., owned, leased, and subcontractor vehicles) would achieve a project wide fleet-average
20 percent NOx reduction and 45 percent PM reduction compared to the most recent CARB fleet average. Acceptable
options for reducing emissions include the use of late model engines, low-emission diesel products, alternative fuels,
engine retrofit technology, after-treatment products, add-on devices such as particulate filters, and/or other options as
such become available.
11. Use low VOC (i.e., ROG) coatings beyond the local requirements (i.e., Regulation 8, Rule 3: Architectural
Coatings).
12. Requiring that all construction equipment, diesel trucks, and generators be equipped with Best Available Control
Technology for emission reductions of NOx and PM.
13. Requiring all contractors use equipment that meets CARB’s most recent certification standard for off-road heavy
duty diesel engines.
Source: BAAQMD 2011
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CITY OF SOUTH SAN FRANCISCO GENERAL PLAN
The Land Use, Planning Sub-Areas, Transportation, and Open Space and Conservation elements
of the General Plan contain the following policies that are relevant to the analysis of air quality
impacts:
Chapter 2: Land Use
2-I-4 Require all new developments seeking an FAR bonus to achieve a progressively
higher alternative mode usage. The requirements of the TDM program are
detailed in the Zoning Ordinance.
2-I-5 Examine the potential for establishing performance-based standards for industrial
development to minimize resulting impacts.
2-I-6 Undertake a comprehensive review of the parking standards and establish
criteria for reduced parking for mixed-use developments, for development that
meets specified TDM criteria, and Medium- and High-Density Residential
development.
2.1-13 As part of development review in environmentally sensitive areas, require specific
environmental studies and/or review as stipulated in Section 7.1: Habitat and
Biological Resources Conservation.
2.1-15 As part of the General Plan Annual Report, monitor the rate and density/intensity
of residential, commercial, and industrial development, and site availability for
future development.
Chapter 3: Planning Sub-Areas
3.4-1-1 Work with Caltrans and other agencies to implement the El Camino Real
Landscape Conceptual Master Plan for the entire stretch of El Camino Real
through South San Francisco.
3.4-1-2 Prepare and implement an El Camino Real overlay district in the City’s Zoning
Ordinance that provides development standards that further El Camino’s
development as a mixed-use use boulevard, accommodating the need for both
auto-oriented uses as well as designated pedestrian-oriented centers.
3.4-1-6 Prepare a focused plan for public improvements to the BART station that includes:
Streets and other infrastructure improvements; and
Sidewalk design and construction within a 1/2-mile of the BART station to
integrate the station with the surroundings.
3.4-1-8 Require any new development/redevelopment within 1/2-mile of the BART station
at a density of no less than 30 units per net acre for residential uses, or an FAR of
1.5 for non-residential uses, or an appropriate combination of the two. Maintain
higher intensities where specified otherwise in the General Plan.
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3.4-1-13 Develop the El Camino Real/Chestnut Area in accordance with the vision
established for the area by the El Camino Real/Chestnut Avenue Area Plan.
3.4-1-14 Maintain the El Camino Real/Chestnut Avenue Area Plan as the detailed
implementing guide for the area. The El Camino Real/Chestnut Avenue Area Plan
provides principles and policies that lay the framework for development within
the area. The Area Plan provides an overall vision for the area in terms of land
use, urban design and circulation, and emphasizes the creation of a vibrant and
viable activity center in South San Francisco. The Area Plan also includes Design
Standards and Guidelines to guide design review of projects.
Chapter 4: Transportation
4.2-I-11 Implement, to the extent feasible, circulation system improvements illustrated in
Figures 4-1, 4-2 and 4-3 prior to deterioration in levels of service below the stated
standard.
4.3-I-1 Prepare and adopt a Bikeways Master Plan that includes goals and objectives, a
list or map of improvements, a signage program, detailed standards, and an
implementation program. Once adopted, the Bicycle Master Plan shall be the
guiding policy document regarding bicycling matters that are within the scope of
the adopted Bicycle Master Plan.
4.3-I-5 Prepare, adopt, and maintain a PMP as a long-term vision for supporting and
improving pedestrian access in South San Francisco, including goals, policies, and
strategic near-term implementation measures that encourage pedestrian activity
and prioritizes pedestrian improvements for funding.
4.3-I-9 Promote pedestrian safety and access through education, collaboration with
C/CAG, and regular public awareness efforts that advocate walking.
4.3-I-12 Use the El Camino Real/Chestnut Avenue Area Plan to identify, schedule, and
implement pedestrian improvements for the El Camino Real/Chestnut Area.
4.3-I-15 Adopt a TDM program or ordinance which includes, but is not limited to, the
following components:
Methodology to determine eligibility for land use intensity bonuses for TDM
programs identified in the Land Use Element.
Procedures to ensure continued maintenance of measures that result in
intensity bonuses.
Requirements for off site improvements (such as bus shelters and pedestrian
connections) that are directly necessary as a result of development.
Establishment of baseline TDM requirements for all new projects generating
more than 100 peak period trips.
Establishment of additional requirements for all new projects seeking a FAR
bonus.
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An ongoing monitoring and enforcement program to ensure TDM measures
are actually implemented.
Reduce parking requirements for new projects implementing a TDM Program
in proximity to fixed guide way transit or those with demonstrated measures
that would reduce trip generation.
4.3-I-16 Favor Transportation Systems Management programs that limit vehicle use over
those that extend the commute hour.
4.3-I-18 Establish parking standards to support trip reduction goals by:
Allowing parking reductions for projects that have agreed to implement trip
reduction methods, such as paid parking, and for mixed use development.
Requiring projects larger than 25 employees to provide preferential parking
for carpools and vanpools.
4.3-I-19 Amend the Zoning Ordinance to reduce minimum parking requirements for
projects proximate to transit stations and for projects implementing a TDM
program.
4.3-I-20 Investigate opportunities for shared parking facilities whenever possible to reduce
the number of new parking stalls required.
4.4-I-1 Develop a Downtown multi-modal transit center southeast of the Grand Avenue/
Airport Boulevard intersection, with a relocated Caltrain Station as its hub.
4.4-I-3 Explore the feasibility a shuttle system between the Downtown/multimodal station
and South San Francisco and San Bruno stations. Explore mechanisms to provide
the shuttle service free to riders
Chapter 7: Open Space and Conservation
7.3-I-2 Use the City’s development review process and the California Environmental
Quality Act (CEQA) regulations to evaluate and mitigate the local and
cumulative effects of new development on air quality and GHG emissions.
7.3-I-5 In cooperation with local conservation groups, institute an active urban forest
management program that consists of planting new trees and maintaining
existing ones.
7.3-I-9 Promote land uses that facilitate alternative transit use, including high-density
housing, mixed uses, and affordable housing served by alternative transit
infrastructure.
7.3-I-12 Adopt guidelines, standards, and flexible regulations that promote on-site
renewable energy systems while strengthening South San Francisco’s economic
competitiveness.
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7.3-I-13 Encourage efficient, clean energy and fuel use through collaborative programs,
award programs, and incentives, while removing barriers to the expansion of
alternative fuel facilities and infrastructure.
7.3-I-14 Ensure that design guidelines and standards support operation of alternative fuel
facilities, vehicles, and equipment.
3.2.4 IMPACTS AND MITIGATION MEASURES
STANDARDS OF SIGNIFICANCE
The impact analysis provided below is based on the application of the CEQA Guidelines
Appendix G thresholds of significance. A project is considered to have significant impacts if
implementation of the project would:
1) Conflict with or obstruct implementation of any applicable air quality plan.
2) Violate any air quality standard or contribute substantially to an existing or projected air
quality violation.
3) Expose sensitive receptors to substantial pollutant concentrations.
4) Create objectionable odors affecting a substantial number of people.
5) Result in a cumulatively considerable net increase of any criteria pollutant for which the
project region is nonattainment under an applicable federal or state ambient air quality
standard (including releasing emissions which exceed quantitative thresholds for ozone
precursors).
Changes in the CEQA Guidelines
The thresholds used for the ECR/C EIR air quality analysis were:
The proposed Plan must be consistent with the most recently adopted CAP control
measures and projected vehicle miles traveled (VMT) or vehicle trips (VT) under the
proposed plan must increase less than or equal to the projected population increase.
The proposed land use diagram identifies special overlay zones around existing and
planned sources of TACs and PM2.5, including special overlay zones of at least 500 feet
(or Air District-approved modeled distance) on each side of all freeways and high
volume roadways, and plan identifies goals, policies, and objectives to minimize
potentially adverse impacts.
The proposed plan must identify locations of odor sources in plan; identify goals, policies,
and objectives to minimize potentially adverse impacts.
CEQA Guidance
The BAAQMD publishes air quality guidelines to assist local jurisdictions and lead agencies in
complying with CEQA requirements regarding potentially adverse impacts to air quality. The
district’s guidelines were updated in June 2010 to include new thresholds of significance (2010
thresholds) adopted by the BAAQMD Governing Board on June 2, 2010. The 2010 thresholds
3.2 AIR QUALITY
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.2-18
included new thresholds of significance for construction emissions, cumulative TAC impacts, and
fine particulate matter concentration increases. The BAAQMD’s guidelines were further updated
in May 2011.
On March 5, 2012, the Alameda County Superior Court issued a judgment in connection with a
lawsuit filed by the Building Industry Association, finding that the BAAQMD had failed to comply
with CEQA when it adopted the 2010 thresholds. The court did not determine whether the 2010
thresholds were valid on the merits, but found that adoption of the 2010 thresholds was a
“project” under CEQA. The court issued a writ of mandate ordering the BAAQMD to set aside
the 2010 thresholds and cease dissemination of them until the district had complied with CEQA.
However, the court did not address the Building Industry Association’s remaining arguments. The
BAAQMD appealed the Alameda County Superior Court’s decision and the case went to the
Court of Appeal, First Appellate District.
After the Alameda County Superior Court’s decision, the BAAQMD stopped recommending that
the 2010 thresholds be used as a generally applicable measure of a project’s significant air
quality impacts. The BAAQMD released a new version of its CEQA air quality guidelines in May
2012 removing the 2010 thresholds. The BAAQMD, however, recommended that lead agencies
determine appropriate air quality thresholds of significance based on substantial evidence in the
record.
On August 13, 2013, the Court of Appeal reversed the Superior Court’s decision, finding that the
BAAQMD’s thresholds were not a “project” under CEQA and, as such, did not require CEQA
review. On November 26, 2013, the California Supreme Court by unanimous vote granted review,
but solely to address the legal issue of whether CEQA review is confined to an analysis of a
proposed project’s impacts on the existing environment or also requires analysis of the existing
environment’s impacts on the proposed project and its future occupants and users. On
December 17, 2015, the Supreme Court of California issued its ruling, concluding that agencies
subject to CEQA generally are not required to analyze the impact of existing environmental
conditions on a project’s future users or residents. However, when a proposed project risks
exacerbating those environmental hazards or conditions that already exist, an agency must
analyze the potential impact of such hazards on future residents or users. In those specific
instances, it is the project’s impact on the environment—and not the environment’s impact on the
project. Given the recent date of the Supreme Court decision compared with the writing of this
assessment, the BAAQMD has yet to announce a recommendation regarding use of its 2010
thresholds. (A petition for rehearing, filed August 25, 2016, was denied September 9, 2016.) In the
meantime, lead agencies may exercise their discretion and utilize said thresholds based on a
determination that they are supported by substantial evidence.
This assessment uses the 2010 BAAQMD’s thresholds1 since they are supported by substantial
evidence. Using these criteria, an air quality impact is considered significant if the project would
violate any ambient air quality standard, contribute substantially to an existing or projected air
quality violation, or expose sensitive receptors to substantial pollutant concentrations. The
BAAQMD thresholds of significance for evaluating construction and operational air quality
impacts are listed in Table 3.2-7.
1 The BAAQMD thresholds were updated in May 2017. However, the project’s notice of
preparation (NOP) was issued on March 2, 2017, and the analysis uses the thresholds as of that
date.
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July 2017 Draft SEIR
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TABLE 3.2-7
BAAQMD SIGNIFICANCE THRESHOLDS
Air Pollutant Construction Activities Operations
Reactive Organic Gases (ROG) 54 pounds/day 54 pounds/day 10 tons/year
Nitrogen Oxides (NOx) 54 pounds/day 54 pounds/day 10 tons/year
Coarse Particulates (PM10) 82 pounds/day
(exhaust PM10) 82 pounds/day 15 tons/year
Fine Particulates (PM2.5) 54 pounds/day
(exhaust PM2.5) 54 pounds/day 10 tons/year
Fugitive Dust Particulate Matter BAAQMD Best Management
Practices None None
Carbon Monoxide (CO) None None None
Sulfur Oxides (SOx) None None None
Source: BAAQMD 2011. The BAAQMD recommends Basic Construction Mitigation Measures (see Table 3.2-6) during construction in order
to achieve less than significant impacts related to fugitive dust emissions during construction activities (fugitive dust PM10 and PM2.5).
Carbon Monoxide Hot-Spot Analysis
In addition to the significance thresholds listed above, the project would be subject to the
ambient air quality standards, which are addressed though an analysis of localized CO impacts.
The California 1-hour and 8-hour carbon monoxide standards are:
1-hour = 20 parts per million
8-hour = 9 parts per million
The significance of localized impacts depends on whether ambient CO levels in the vicinity of
the project site are above state and federal carbon monoxide standards. CO concentrations in
South San Francisco do not exceed the CAAQS or NAAQS criteria, and the air basin has been
designated as attainment under the 1-hour and 8-hour standards.
Toxic Air Contaminant Thresholds
This Draft SEIR also evaluates the project’s impacts with respect to toxic air contaminants. The
BAAQMD regulates levels of air toxics through a permitting process. If emissions of TACs exceed
an excess cancer risk level of more than 10 in one million or a non-cancer hazard index greater
than 1.0, the project would result in a significant impact.
METHODOLOGY
Air quality impacts were assessed in accordance with methodologies recommended by the
BAAQMD, based on the development potential assumptions provided by the project applicant.
Criteria air pollutant emissions were modeled using the California Emissions Estimator Model
(CalEEMod) (see Appendix AIR). CalEEMod is a statewide land use emissions computer model
designed to quantify potential criteria pollutant emissions from a variety of land use projects.
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Draft SEIR July 2017
3.2-20
IMPACTS AND MITIGATION MEASURES
Conflict with or Obstruct Implementation of the 2017 Clean Air Plan (Standard of Significance 1)
Impact 3.2.1 Implementation of the proposed project would not conflict with the
BAAQMD’s 2017 Clean Air Plan. This impact is less than significant.
ECR/C Area Plan EIR Impacts
The ECR/C EIR based its impacts on vehicle miles traveled (VMT). The project would not increase
VMT at a faster rate than population growth and would not be inconsistent with air quality
control measures in the 2010 Bay Area Clean Air Plan. BAAQMD guidelines specify that the plan-
level air quality impact is evaluated by determining the proposed plan’s VMT increase and
comparing it to the project population increase. The plan would increase population by 20.4
percent in South San Francisco, while VMT would increase by approximately 16.6 percent. The
ECR/C area plan and the City’s General Plan policies conform to the control strategies included
in the 2010 Bay Area Clean Air Plan. Therefore, the impact was less than significant (South San
Francisco 2011b, p. 3.2-17).
Subsequent Project Impacts
As part of its enforcement responsibilities, the EPA requires each state with nonattainment areas
to prepare and submit a State Implementation Plan that demonstrates the means to attain the
federal standards. The SIP must integrate federal, state, and local plan components and
regulations to identify specific measures to reduce pollution in nonattainment areas, using a
combination of performance standards and market-based programs. Similarly, under state law,
the California Clean Air Act requires an air quality attainment plan to be prepared for areas
designated as nonattainment with regard to the federal and state ambient air quality standards.
Air quality attainment plans outline emissions limits and control measures to achieve and
maintain these standards by the earliest practical date.
As previously stated, the BAAQMD prepared the 2017 Clean Air Plan as a multipollutant plan to
address the air basin’s nonattainment status related to the national 1-hour ozone standard and
the CAAQS, as well as particulate matter, air toxics, and greenhouse gases. The plan establishes
a program of rules and regulations directed at reducing air pollutant emissions and achieving
state (California) and national air quality standards. The Clean Air Plan’s pollutant control
strategies are based on the latest scientific and technical information and planning assumptions,
updated emission inventory methodologies for various source categories, and the latest
population growth projections and VMT projections for the region.
Criteria for determining consistency with the Clean Air Plan are defined by the following
indicators:
Consistency Criterion No. 1: The project supports the primary goals of the Clean Air Plan.
Consistency Criterion No. 2: The project conforms to applicable control measures from
the Clean Air Plan and does not disrupt or hinder the implementation of any Clean Air
Plan control measures.
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The violations to which Consistency Criterion No. 1 refer are the California ambient air quality
standards (CAAQS) and the national ambient air quality standards (NAAQS). As evaluated
below in Impact 3.2.2, the project would not exceed operational standards and therefore would
not violate air quality standards. Thus, the project would be consistent with the first criterion.
Concerning Consistency Criterion No. 2, the 2017 Clean Air Plan contains air pollutant reduction
strategies and demonstrates that the applicable ambient air quality standards can be achieved
within the time frames required under federal law. Growth projections from local general plans
adopted by cities in the air district are used to develop regional growth forecasts. The regional
growth forecasts are used to develop future air quality forecasts for the 2017 Clean Air Plan.
Development in South San Francisco consistent with the growth projections in the South San
Francisco General Plan is considered to be consistent with the 2017 Clean Air Plan. The proposed
project is consistent with the land use designations and development density presented in the
General Plan and therefore would not exceed the population or job growth projections used to
inform the air quality forecasts of the 2017 Clean Air Plan.
The revised project is consistent with both criteria and would therefore continue to have a less
than significant impact.
Mitigation Measures
None required.
Violate an Air Quality Standard or Contribute Substantially to an Air Quality Violation During
Short- or Long-Term Operations (Standard of Significance 2)
Impact 3.2.2 Implementation of the proposed project would not result in an air quality
violation with mitigation. This impact would be less than significant with
mitigation.
ECR/C Area Plan EIR Impacts
The BAAQMD significance criteria for plan-level analysis did not require the preparation of
pollutant estimates. Therefore, the possibility of the violation of an air quality standard was not
calculated.
Subsequent Project Impacts
Construction-Generated Emissions
The project would generate short-term emissions from construction activities such as demolition,
site grading, asphalt paving, building construction, and architectural coatings (e.g., painting).
Common construction emissions include fugitive dust from soil disturbance, fuel combustion from
mobile heavy-duty diesel- and gasoline-powered equipment and portable auxiliary equipment,
and worker commute trips. During construction, fugitive dust, the dominant source of PM10 and
PM2.5 emissions, is generated when wheels or blades disturb surface materials. Uncontrolled dust
from construction can become a nuisance and potential health hazard to those living and
working nearby. Off-road construction equipment is often diesel-powered and can be a
substantial source of NOX emissions, in addition to PM10 and PM2.5 emissions. Worker commute
trips and architectural coatings are dominant sources of ROG emissions.
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Predicted maximum daily construction-generated emissions for the project are summarized in
Table 3.2-8.
TABLE 3.2-8
CONSTRUCTION-RELATED CRITERIA POLLUTANT AND PRECURSOR EMISSIONS – UNMITIGATED
(MAXIMUM POUNDS PER DAY)
Construction Activities ROG NOX Exhaust
PM10
Exhaust
PM2.5
Fugitive Dust
PM10
Fugitive Dust
PM2.5
Year 2017 13.19 57.60 3.20 3.00 18.21 9.97
Year 2018 12.31 50.47 2.67 2.50 18.21 9.97
Year 2019 11.69 45.24 2.30 2.15 1.72 0.46
BAAQMD Potentially
Significant Impact
Threshold
54
pounds/day
54
pounds/day
82
pounds/day
54
pounds/day
Basic
Construction
Mitigation
Measures
Basic
Construction
Mitigation
Measures
Exceed BAAQMD
Threshold? No Yes No No No No
Source: CalEEMod version 2016.3.1. See Appendix AIR for emission model outputs.
All construction projects in South San Francisco are required to implement the BAAQMD’s Basic
Construction Mitigation Measures (see Table 3.2-6) as a condition of project approval; therefore,
the proposed project would conform to BAAQMD recommendations related to fugitive dust
emissions. As shown in Table 3.2-8, all criteria pollutant emissions would remain below their
respective thresholds, with the exception of NOx. Construction activities would surpass BAAQMD
significance thresholds at least one day during construction. Since NOx emissions are projected
to surpass the significance threshold and NOx is directly associated with the use of diesel-
powered construction equipment, mitigation measure MM 3.2.2 is required.
Table 3.2-9 identifies the construction-generated emissions with implementation of mitigation
measure MM 3.2.2, which requires that all diesel power equipment comply with CARB
regulations.
TABLE 3.2-9
CONSTRUCTION-RELATED CRITERIA POLLUTANT AND PRECURSOR EMISSIONS – MITIGATED
(MAXIMUM POUNDS PER DAY)
Construction Activities ROG NOX Exhaust
PM10
Exhaust
PM2.5
Fugitive Dust
PM10
Fugitive Dust
PM2.5
Year 2017 9.10 35.02 1.69 1.68 18.21 9.97
Year 2018 8.98 34.43 1.67 1.67 18.21 9.97
Year 2019 8.90 33.96 1.66 1.66 1.72 0.46
BAAQMD Potentially
Significant Impact
Threshold
54
pounds/day
54
pounds/day
82
pounds/day
54
pounds/day
Basic
Construction
Mitigation
Measures
Basic
Construction
Mitigation
Measures
Exceed BAAQMD
Threshold? No No No No No No
Source: CalEEMod version 2016.3.1. See Appendix AIR for emission model outputs.
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July 2017 Draft SEIR
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Implementation of mitigation measure MM 3.2.2 would reduce NOX emissions to levels below the
BAAQMD significance threshold. Therefore, the revised project would have a less than significant
impact with mitigation on construction-related emissions.
Operational Emissions
The project would result in long-term operational emissions of criteria air pollutants and ozone
precursors (i.e., ROG and NOX). Project-generated increases in emissions would be
predominantly associated with motor vehicle use. Long-term operational emissions are
summarized in Table 3.2-10.
TABLE 3.2-10
LONG-TERM OPERATIONAL EMISSIONS
Source Emissions
ROG NOx CO SO2 PM10 PM2.5
Daily Emissions (Pounds per Day)
Summer Emissions (Pounds per Day) 12.59 24.40 85.85 0.27 22.99 6.41
Winter Emissions (Pounds per Day) 11.84 26.35 90.85 0.25 22.99 6.41
BAAQMD Potentially Significant
Impact Threshold (Daily Emissions)
54
pounds/day
54
pounds/day None None 82
pounds/day
54
pounds/day
Exceed BAAQMD Daily Threshold? No No No No No No
Annual Emissions (Tons per Year)
Annual Emissions (Tons per Year) 2.14 4.66 15.67 0.05 4.02 1.13
BAAQMD Potentially Significant
Impact Threshold (Annual Emissions)
10
tons/year
10
tons/year None None 15
tons/year
10
tons/year
Exceed BAAQMD Annual
Threshold? No No No No No No
Source: CalEEMod version 2016.3.1. See Appendix AIR for emission model outputs.
As shown in Table 3.2-10, all criteria pollutant emissions would remain below their respective
thresholds during operations. Therefore, the revised project’s operational impacts would be less
than significant.
Mitigation Measures
MM 3.2.2 During construction activities, the project applicant and/or its contractor shall
ensure that all off-road diesel-fueled equipment (e.g., rubber-tired dozers,
graders, scrapers, excavators, asphalt paving equipment, cranes, and
tractors) is California Air Resources Board (CARB) Tier 3 Certified or better.2
2 The Clean Air Act of 1990 directed the EPA to study, and regulate if warranted, the contribution of off-road internal
combustion engines to urban air pollution. The first federal standards (Tier 1) for new off-road diesel engines were
adopted in 1994 for engines over 50 horsepower and were phased in from 1996 to 2000. In 1996, a Statement of
Principles pertaining to off-road diesel engines was signed between the EPA, CARB, and engine makers (including
Caterpillar, Cummins, Deere, Detroit Diesel, Deutz, Isuzu, Komatsu, Kubota, Mitsubishi, Navistar, New Holland, Wis-Con,
and Yanmar). On August 27, 1998, the EPA signed the final rule reflecting the provisions of the Statement of Principles.
The 1998 regulation introduced Tier 1 standards for equipment under 50 horsepower and increasingly more stringent Tier
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Draft SEIR July 2017
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Expose Sensitive Receptors to Substantial Pollutant Concentrations (Standard of Significance 3)
Impact 3.2.3 The proposed project would not contribute to localized concentrations of
mobile-source CO that would exceed applicable ambient air quality
standards. This impact would be less than significant with mitigation.
ECR/C Area Plan EIR Impacts
Several permitted sources of TACs were present in the plan area. These were a dry cleaner
located at 1053 El Camino Real and a standby diesel generator at 1040 Old Mission Road.
CARB’s (2005) Air Quality and Land Use Handbook recommends a 300-foot buffer around dry
cleaning operations, but the dry cleaner is required to phase out perchloroethylene operations
by 2023, which would reduce health risks to a less than significant level. Projects proposed prior
to the phase-out will be required to complete a site-specific analysis. The risks from the generator
were considered de minimus. The planning area did not have sufficient traffic volumes to pose a
significant risk from mobile sources of air pollutants to sensitive receptors. Therefore, the project
would have a less than significant impact.
Subsequent Project Impacts
Sensitive land uses are defined as facilities or land uses that include members of the population
that are particularly sensitive to the effects of air pollutants, such as children, the elderly, and
people with illnesses. Examples of these sensitive receptors are residences, schools, hospitals,
and daycare centers.
The project site is located near several sensitive receptors. Residential uses are located
approximately 100 feet away from the western project site across Arroyo Drive. Residential uses
are located between the eastern project site and Colma Creek, adjacent to Antoinette Lane.
The closest school is the Urban Sprouts Preschool, located approximately 600 feet to the
northwest of the western project site. R. W Drake Preschool is also located nearby and is
approximately 900 feet to the south of the eastern project site. A hospital, Kaiser Permanente of
South San Francisco, is located approximately 1,200 feet north of the project site.
Air Toxics (TACs) Generated During Construction
Sources of construction-related TACs potentially affecting the sensitive receptors include off-
road diesel-powered equipment. Construction would result in the generation of diesel PM
emissions from the use of off-road diesel equipment required for grading and excavation,
paving, and other construction activities. The amount to which the receptors are exposed (a
function of concentration and duration of exposure) is the primary factor used to determine
health risk (i.e., potential exposure to TAC emission levels that exceed applicable standards).
Health-related risks associated with diesel-exhaust emissions are primarily linked to long-term
exposure and the associated risk of contracting cancer.
The use of diesel-powered construction equipment would be temporary and episodic and
would occur over several locations isolated from one another. Additionally, mitigation measure
MM 3.2.2 would reduce the amount of construction-generated diesel exhaust particulate matter
and other pollutants by requiring the most efficient equipment. For instance, the Tier 3 standards,
2 and Tier 3 standards for all equipment with phase-in schedules from 2000 to 2008. As a result, all off-road, diesel-fueled
construction equipment manufactured in 2006 or later has been manufactured to Tier 3 standards.
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July 2017 Draft SEIR
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required by mitigation measure MM 3.2.2, reduce emissions of NOX by more than 29 percent,
PM10 by 10 percent, and PM2.5 by 15 percent. Furthermore, future development would be
subject to and would comply with California regulations limiting the idling of vehicles to no more
than 5 minutes, which would further reduce nearby sensitive receptors’ exposure to temporary
and variable diesel PM emissions.
For these reasons and because diesel fumes disperse rapidly over relatively short distances,
diesel PM generated by construction activities, in and of itself, would not be expected to expose
sensitive receptors to substantial amounts of air toxics, and the revised project’s impact would
be less than significant with mitigation.
Air Toxics (TACs) Generated During Project Operations
The proposed project consists of a fire station, a community civic center, and office buildings.
Therefore, the project would not include stationary sources of air toxics (i.e., smoke stacks).
Furthermore, operations of the project will not require the need for substantial material deliveries
involving heavy-duty trucks, a source of diesel particulate matter (according to the California Air
Pollution Control Officers Association’s (CAPCOA) (2009) Health Risk Assessments for Proposed
Land Use Projects, operations that require fewer than 100 delivery trucks daily are not
considered a potential health risk). Therefore, the project would not result in the exposure of
existing sensitive receptors to substantial amounts of air toxics. Additionally, the proposed project
is not considered a sensitive land use and would not be staffed by or service the population
groups most likely to be affected by air toxics. Therefore, the revised project would continue to
have a less than significant impact.
Carbon Monoxide Hot Spots
The primary mobile-source criteria pollutant of local concern is carbon monoxide.
Concentrations of CO are a direct function of the number of vehicles, length of delay, and
traffic flow conditions. Transport of this criteria pollutant is extremely limited; CO disperses rapidly
with distance from the source under normal meteorological conditions. Under certain
meteorological conditions, however, CO concentrations close to congested intersections that
experience high levels of traffic and elevated background concentrations may reach unhealthy
levels, affecting nearby sensitive receptors. Areas of high CO concentrations, or “hot spots,” are
typically associated with intersections that are projected to operate at unacceptable levels of
service during the peak commute hours.3 Modeling is therefore typically conducted for
intersections that are projected to operate at unacceptable levels of service during peak
commute hours.
Based on BAAQMD guidance, projects meeting all of the following screening criteria would be
considered to have a less than significant impact on localized carbon monoxide concentrations
if:
1. The project is consistent with an applicable congestion management program
established by the county congestion management agency for designated roads or
highways, regional transportation plans, and local congestion management agency
plans.
3 Level of service (LOS) is a measure used by traffic engineers to determine the effectiveness of transportation
infrastructure. Level of service is most commonly used to analyze intersections by categorizing traffic flow with
corresponding safe driving conditions. LOS A is considered the most efficient level of service and LOS F the least efficient.
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Draft SEIR July 2017
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2. The project traffic would not increase traffic volumes at affected intersections to more
than 44,000 vehicles per hour.
3. The project traffic would not increase traffic volumes at affected intersections to more
than 24,000 vehicles per hour where vertical and/or horizontal mixing is substantially
limited (e.g., tunnel, parking garage, bridge underpass, natural or urban street canyon,
below-grade roadway).
According to the transportation impact analysis prepared for the project (Kimley Horn 2017), the
major roadway in the project vicinity, El Camino Real (State Route [SR] 82), has volumes of 15,400
daily trips to the north and 32,000 daily trips to the south. The project would result in an additional
5,571 daily trips.4 The project would not increase traffic volumes to more than 44,000 vehicles per
hour or 24,000 vehicles per hour where vertical and/or horizontal mixing of pollutants and
atmosphere is substantially limited (i.e., an enclosed parking structure). Therefore, the revised
project’s impact would continue to be less than significant.
Mitigation Measures
Implementation of mitigation measure MM 3.2.2 (see Impact 3.2.2) would reduce impacts to less
than significant.
Expose Sensitive Receptors to Odorous Emissions (Standard of Significance 4)
Impact 3.2.4 Future development would not result in exposure of sensitive receptors to
substantial odorous emissions. This impact would be less than significant.
ECR/C Area Plan Impacts
Though offensive odors from stationary sources rarely cause any physical harm, they still remain
unpleasant and can lead to public distress, generating citizen complaints to local governments.
The occurrence and severity of odor impacts depend on the nature, frequency, and intensity of
the source; wind speed and direction; and the sensitivity of receptors. Odor impacts should be
considered for any proposed new odor sources located near existing receptors, as well as any
new sensitive receptors located near existing odor sources. Future land uses in the proposed
plan include commercial and residential land uses. New industrial uses are not permitted in the
planning area. Therefore, no odor sources are anticipated to be built under the proposed Area
Plan. In addition, all new development under the Area Plan would be subject to existing policies
and regulations regarding odors. Therefore, the project would have a less than significant odor
impact (South San Francisco 2011b, p. 3.2-26).
Subsequent Project Impacts
Projects with the potential to frequently expose members of the public to objectionable odors
would be deemed to have a significant impact. Land uses commonly considered to be
potential sources of odorous emissions include wastewater treatment plants, sanitary landfills,
food processing facilities, chemical manufacturing plants, rendering plants, paint/coating
operations, asphalt batch plants, agricultural feedlots, and dairies. Short-term construction
activities may also result in localized increases of odorous emissions. Short- and long-term
increases in localized concentrations of odors are discussed below.
4 Note: The TIA states the ECR/C plan area would add 9,962 additional trips. However, the project only encompasses
blocks D and E (-340 trips), blocks F and G (4,856 trips), and the outside focus area (1,055 trips) for a total of 5,571 trips.
Therefore, the air quality analysis used 5,571 trips in its calculations.
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July 2017 Draft SEIR
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Short-Term Exposure to Odors
Construction is not anticipated to expose nearby receptors to objectionable odors.
Construction-generated odors are typically associated with exhaust emissions from diesel-fueled
equipment and the application of architectural coatings and paving materials, which may be
considered objectionable to some individuals. However, because construction-related odors
would be intermittent, temporary, and would disperse rapidly with distance from the source,
construction-related odors would not result in the frequent exposure of a substantial number of
individuals to objectionable odors. It is also important to note that the project is required to
comply with BAAQMD Regulation 8, Rule 3, Architectural Coatings, and Rule 15, Emulsified
Asphalt, which establish volatile organic compound (VOC) content limits for these construction
materials. VOCs are the main sources of odors from these sources. Therefore, compliance with
these regulatory requirements would further reduce odor impacts associated with these sources.
Short-term exposure to odorous emissions would therefore continue to be considered less than
significant.
Long-Term Exposure to Odors
The proposed project consists of a community campus with a library, recreation center, office
space, and a fire station, which are not considered major sources of odorous emissions.
Therefore, the project would not be expected to result in the installation of any major odor
emissions sources. Long-term exposure to odorous emissions would continue to be considered
less than significant.
Mitigation Measures
None required.
3.2.5 CUMULATIVE SETTING, IMPACTS, AND MITIGATION MEASURES
CUMULATIVE SETTING
The cumulative setting for air quality includes South San Francisco and the San Francisco Bay
Area Air Basin. The SFBAAB is designated as a nonattainment area related to the state standards
for O3, PM10, and PM2.5 in addition to federal O3 and PM2.5 standards. The air basin is designated
as being unclassified and/or attainment for all other pollutants. Cumulative growth in
population, vehicle use, and industrial activity could inhibit efforts to improve regional air quality
and attain the ambient air quality standards. Thus, the setting for this cumulative analysis consists
of the SFBAAB and associated growth and development anticipated in the air basin.
CUMULATIVE IMPACTS AND MITIGATION MEASURES
Cumulative Air Quality Impacts (Standard of Significance 5)
Impact 3.2.5 The proposed project, in combination with cumulative development in the
SFBAAB, would not result in a cumulatively considerable net increase of
criteria air pollutants for which the air basin is designated nonattainment. This
impact would be a less than cumulatively considerable.
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Draft SEIR July 2017
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ECR/C Area Plan Impacts
By its nature, air quality analysis represents a cumulative analysis air pollution in the project area.
Implementation of the Area Plan, with the forecast development of residential and commercial
land uses, could result in increased air pollution and therefore an increase of criteria air
pollutants. However, the plan’s contribution was found to be less than cumulatively considerable
because the projected VMT caused by plan implementation would be less than its projected
population increase (South San Francisco 2011b, p. 5-4).
Subsequent Project Impacts
By its very nature, air pollution is largely a cumulative impact. According to the BAAQMD, no
single project is sufficient in size, by itself, to result in nonattainment of ambient air quality
standards. Instead, a project’s individual emissions contribute to existing cumulatively significant
adverse air quality impacts. In developing thresholds of significance for air pollutants, the
BAAQMD considered the emission levels for which a project’s individual emissions would be
cumulatively considerable. According to the BAAQMD (2011), if a project exceeds its identified
significance thresholds, the project’s impact would be cumulatively considerable. As stated
under Impact 3.5.3, the project would not exceed BAAQMD thresholds with the implementation
of mitigation measure MM 3.2.2. With implementation, the revised project would have a less
than cumulatively considerable impact with mitigation.
Mitigation Measures
MM 3.2.2 (see Impact 3.2.2)
3.2 AIR QUALITY
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.2-29
3.2.6 REFERENCES
BAAQMD (Bay Area Air Quality Management District). 2011. CEQA Air Quality Guidelines.
———. 2015. Air Quality Standards and Attainment Status.
http://www.baaqmd.gov/research-and-data/air-quality-standards-and-attainment-
status.
———. 2017. 2017 Clean Air Plan: Spare the Air, Cool the Climate.
http://www.baaqmd.gov/plans-and-climate/air-quality-plans/current-plans.
CAPCOA (California Air Pollution Control Officers Association). 2009. Health Risk Assessments for
Proposed Land Use Projects.
———. 2011. Health Effects.
CARB (California Air Resources Board). 1999. Final Staff Report: Update to the Toxic Air
Contaminant List.
———. 2005. Air Quality and Land Use Handbook: A Community Health Perspective.
———. 2010. California's Diesel Risk Reduction Plan. http://www.arb.ca.gov/diesel/dieselrrp.htm.
———. 2016. Air Quality Data Statistics. http://www.arb.ca.gov/adam/index.html.
Kimley-Horn. 2017. Transportation Impact Analysis, El Camino Real/Chestnut Avenue Area Plan
Update.
OEHHA (Office of Environmental Health Hazard Assessment). 2007. Air Toxicology and
Epidemiology: Air Pollution and Children's Health.
http://oehha.ca.gov/public_info/facts/airkids.html.
South San Francisco, City of. 2011a. El Camino Real/Chestnut Avenue Area Plan – General Plan
Amendment.
———. 2011b. City of South San Francisco El Camino Real/Chestnut Avenue Area Plan, and
associated General Plan Amendment, and Zoning Ordinance Amendment. Final
Environmental Impact Report.
———. 2014. South San Francisco General Plan.
3.2 AIR QUALITY
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
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3.3 – BIOLOGICAL RESOURCES
3.3 BIOLOGICAL RESOURCES
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.3-1
This section describes the existing biological resources, including special-status plant and wildlife
species and vegetation communities known to occur and/or have the potential to occur on the
project site. The section includes a summary of the regulations and programs that provide
protective measures to special-status species, an analysis of impacts on biological resources that
could result from project implementation, and a discussion of mitigation measures necessary to
reduce impacts to a less than significant level, where feasible. The analysis of biological resources
presented in this section is based on a review of the current project description and available
literature, as well as a site visit and survey conducted by a Michael Baker International biologist
on February 22, 2017. This section also summarizes the analysis under the previous City of South San
Francisco El Camino Real/Chestnut Avenue (ECR/C) Area Plan Environmental Impact Report (EIR)
prepared and certified in 2011.
3.3.1 SEIR IMPACT SUMMARY
A summary of the impact conclusions related to biological resources is provided below.
Impact Number Impact Topic Impact Significance
3.3.1 Candidate, sensitive, or special-status plant
or animal species Less than significant with mitigation
3.3.2 Riparian habitat or sensitive natural
communities No impact
3.3.3 Wetlands or waters of the United States No impact
3.3.4 Wildlife movement No impact
3.3.5 Conflict with local policies Less than significant
3.3.6 Conservation plans No impact
3.3.7 Special-status species populations Less than significant with mitigation
3.3.8 Cumulative biological resources impacts Less than cumulatively considerable with mitigation
Impacts identified in the ECR/C EIR are summarized with the project impacts in subsection 3.3.4.
3.3.2 EXISTING SETTING
ECR/C AREA PLAN SETTING
The area originally analyzed in the 2011 ECR/C EIR consisted of approximately 98 acres of primarily
developed land in South San Francisco. The 2011 ECR/C EIR described the project site as primarily
developed with commercial and medical uses, and located in an urbanized portion of South San
Francisco. It was noted that while there is vacant land present, it is generally paved. The California
Gap Analysis designated the project site as developed without special-status vegetation
communities, riparian areas, or other special-status resources such as wetlands or wildlife corridors.
No habitat conservation plans (HCP), natural community conservation plans (NCCP), or other
approved local, regional, or state plans had been adopted for the planning area.
The California Department of Fish and Wildlife (CDFW) California Natural Diversity Database
(CNDDB) had records of three special-status species in the planning area. These species included
the congested-headed hayfield tarplant (Hemizonia congesta ssp. congesta), the Alameda song
sparrow (Melospiza melodia pusillula), and the San Francisco garter snake (Thamnophis sirtalis
tetrataenia; federally and state listed as endangered, and CDFW Fully Protected). The congested-
3.3 BIOLOGICAL RESOURCES
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.3-2
headed hayfield tarplant, a California Rare Plant Rank (CRPR) 1B.2 species, is recognized as rare,
threatened, or endangered in California and elsewhere by the California Native Plant Society
(CNPS). The Alameda song sparrow is recognized as a California Species of Special Concern by
the CDFW. The San Francisco garter snake is listed as endangered under the federal Endangered
Species Act (ESA) and the California Endangered Species Act (CESA).
CURRENT (PROPOSED) PROJECT SITE SETTING
The project site is located in South San Francisco near the intersection of State Route 82 (El Camino
Real) and Chestnut Avenue. The majority of the proposed project will be located on the eastern
project site, with portions on both sides of and including Antoinette Lane, north of Chestnut
Avenue. A small portion of the project would occur on the western project site, which currently
contains the existing Municipal Services Building and a parking lot, and is bordered to the north,
east, and west by El Camino Real, Arroyo Drive, and Camaritas Avenue, respectively. The entire
project site is approximately 9 acres and includes existing businesses, paved lots, Antoinette Lane,
and disturbed habitat. The project site is located approximately 0.8 mile south of the base of San
Bruno Mountain and roughly 3 miles west of the San Francisco Bay.
A small stand of mature eucalyptus (Eucalyptus sp.) trees occurs just north of the eastern project
site adjacent to a recreational use trail. The project is located just west of Colma Creek, which
conveys flows through South San Francisco into the San Francisco Bay. While certain portions of
Colma Creek may support vegetation and wetland features, in this area of the city, the creek is
channelized, lined with concrete, and virtually devoid of vegetation. There is a large paved area
on the project site just west of Antoinette Lane. At the time of the survey, the paved area
contained ponded water from recent heavy rain.
CHANGES FROM 2011 CONDITIONS
At the time of the ECR/C EIR, the eastern project site contained relatively similar conditions,
including ornamental trees in the north and adjacent to El Camino Real, the developed
Antoinette Lane, and disturbed habitat otherwise. The paved lot currently in the center of the
eastern project site was not present in 2011. The developed western project site is relatively
unchanged.
VEGETATION
The eastern project site primarily consists of a mixture of disturbed habitat and urban areas. The
western project site is entirely developed. Vegetation communities and land uses on the project
site are discussed below and shown in Figure 3.3-1, Vegetation Communities.
Disturbed Habitat
Disturbed habitat occurs in areas of frequent and repeated disturbance (e.g., vehicle activities,
mowing), such as along roadsides, trails, and parking lots, and is found in close proximity to urban
or developed areas. Disturbed habitat on-site supports a diverse weedy flora, including bromes
(Bromus sp.), wild oats (Avena sp.), milk thistle (Silybum marianum), and other non-native species.
Approximately 1.5 acres of disturbed habitat are within the eastern project site, which is
surrounded by urban development to the east, including a paved parking lot to the south, El
Camino Real to the west, and disturbed habitat with some development to the north. The
disturbed habitat shows signs of dumping, routine use by bicyclists and pedestrians, and historical
grading and earthwork. The vegetation consists of introduced grasses and forbs.
Figure 3.3-1Vegetation Communities
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3.3 BIOLOGICAL RESOURCES
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.3-5
Wildlife species typically found in disturbed habitat include western fence lizard (Sceloporus
occidentalis), black-tailed jackrabbit (Lepus californicus), California ground squirrel
(Otospermophilus beecheyi), western harvest mouse (Reithrodontomys megalotis), Botta’s pocket
gopher (Thomomys bottae), California vole (Microtus californicus), mourning dove (Zenaida
macroura), house finch (Haemorhous mexicanus), and common raven (Corvus corax).
Ornamental
On the eastern project site, several native and ornamental trees and shrubs are located east of
and adjacent to El Camino Real, including but not limited to eucalyptus, Monterey cypress
(Hesperocyparis macrocarpa; a CRPR 1B.2 species on the coast, but invasive elsewhere), toyon
(Heteromeles arbutifolia), ornamental cypress (Family Cupressaceae), atlas cedar (Cedrus
atlantica), and ornamental plum (Prunus sp.). This vegetation community often supports nesting
raptors, corvids, and other avian species, with the potential to support various roosting bat species
and western gray squirrel (Sciurus griseus).
Developed
Most of the project site, including the entire western project site, consists of urban land uses such
as paved roads, buildings, and concrete or gravel lots that generally preclude the reestablishment
of vegetation. The developed portions of the project site include the northern portion and terminus
of Antoinette Lane, a fenced-in and unused gravel lot, and existing businesses.
These areas do not generally provide suitable habitat for many species; however, some species
are suited to developed areas. Wildlife species commonly found in urbanized areas include
mockingbird (Mimus polyglottos), house finch, rock dove (Columbidae spp.), and raccoon
(Procyon lotor).
WILDLIFE
The developed nature of the project site and surrounding urban environment prevent many
species from likely occurring in the project site. Common species occurring in disturbed habitats
are discussed above. While the disturbed habitat on-site has the potential to support burrowing
owl (Athene cunicularia), no ground squirrel burrows were observed during the reconnaissance-
level site survey. Although no raptors were present at the time of the survey, several large stick
nests were observed in a stand of mature eucalyptus trees.
SPECIAL-STATUS SPECIES
Special-status plant and animal species are those that are afforded special recognition by
federal, state, or local resource agencies or organizations. Special-status species are of relatively
limited distribution and generally require specialized habitat conditions. Special-status species are
defined as follows:
1) Listed, proposed, or candidate for listing under the ESA or the CESA
2) Protected under other regulations (e.g., local policies, Migratory Bird Treaty Act [MBTA],
and California Fish and Game Code [FGC])
3) Listed as CDFW Species of Special Concern and California Fully Protected species
3.3 BIOLOGICAL RESOURCES
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.3-6
4) Listed as rare, threatened, endangered, or uncommon; for example, CRPR 1A, 1B, or 2
plant species, by the California Native Plant Society
5) Species that receive consideration by the lead agency during environmental review
pursuant to the California Environmental Quality Act (CEQA)
Special-Status Plant Species
Due to the predominance of fully developed areas and the disturbed nature of the undeveloped
portions of the project site, no special-status plant species are expected to occur on the project
site. Although Monterey cypress (CRPR 1B.2) is present on the project site, these individuals are
outside of their known native (coastal) range and are therefore considered invasive at this
location.
Special-Status Wildlife Species
Based on database search results and habitat availability, the only special-status wildlife species
with the potential to occur on the project site are special-status roosting bat species and nesting
birds and raptors.
Burrowing Owl
While the disturbed habitat and open areas adjacent to the project site may provide suitable
habitat for burrowing owl, no small mammal burrows (i.e., home of primary prey species, and
preferred starting point for burrowing owl burrows) were observed during the site visit. Therefore,
because of the lack of available burrows, burrowing owls are not expected to occur on the
project site.
Raptors and Migratory Birds
Various migratory and resident raptors and other birds have the potential to inhabit the project
site. Some species are afforded specific protection, such as white-tailed kite (Elanus leucurus),
which is a CDFW Fully Protected species. However, raptor and other bird species such as American
kestrel (Falco sparverius), merlin (Falco columbarius), red-tailed hawk (Buteo jamaicensis),
Cooper’s hawk (Accipiter cooperii), sharp-shinned hawk (A. striatus), California horned lark
(Eremophila alpestris actia), and loggerhead shrike (Lanius ludovicianus), species on the CDFW
Watch List, are not protected under the ESA or the CESA. Nonetheless, the nests of all raptor
species are protected under the MBTA and FGC Section 3503.5. The nests of nearly all avian
species are protected under the MBTA, which makes it illegal to destroy active bird nests.
The project site contains a small area of disturbed habitat that provides suitable foraging habitat
for a variety of migratory birds and raptors. In addition, the large eucalyptus trees on the north
side of the project area and the mature trees along El Camino Real have the potential to provide
suitable nesting habitat for raptors and other birds. During the site visit, several large stick nests
were noted in the eucalyptus trees in the northern portion of the project site. Therefore, raptors
and other birds may occupy portions of the project site.
3.3 BIOLOGICAL RESOURCES
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.3-7
Special-Status Bats
The database queries identified four special-status bat species in the project vicinity: western red
bat (Lasiurus blossevillii), pallid bat (Antrozous pallidus), big free-tailed bat (Nyctinomops macrotis),
and Townsend’s big-eared bat (Corynorhinus townsendii), all CDFW Species of Special Concern.
Habitat on-site for bat species consists of foraging habitat, night-roosting cover, maternity roost
sites, and winter hibernacula. These bat species may forage in a variety of habitats. In general,
the CDFW is most concerned about the loss of maternity roosting sites. Suitable roosting sites for
these species include caves, rock crevices, cliffs, buildings, tree bark, and snags. The mature trees
and buildings on the project site may provide marginally suitable roosting habitat for the bat
species listed above; therefore, these species have the potential to occur in the project area.
3.3.3 REGULATORY FRAMEWORK
This section summarizes laws and regulations that apply to species and habitat. It also identifies
environmental review and consultation requirements, as well as permits and approvals that may
be required from local, state, and federal agencies, depending on whether protected species or
habitats are present and on the location and type of development.
FEDERAL
Endangered Species Act
The Endangered Species Act of 1973 (ESA), as amended, provides protective measures for
federally listed threatened and endangered species, including their habitats, from unlawful take
(16 United States Code [USC] Sections 1531–1544). The ESA defines “take” to mean “harass, harm,
pursue, hunt, shoot, wound, kill, trap, capture, or collect, or to attempt to engage in any such
conduct.” Title 50, Part 222, of the Code of Federal Regulations (50 Code of Federal Regulations
[CFR] Section 222) further defines “harm” to include “an act which actually kills or injures fish or
wildlife. Such an act may include significant habitat modification or degradation where it actually
kills or injures fish or wildlife by significantly impairing essential behavioral patterns including
feeding, spawning, rearing, migrating, feeding, or sheltering.”
Migratory Bird Treaty Act
Migratory birds are protected under the Migratory Bird Treaty Act of 1918 (16 USC Sections 703–
711). The MBTA makes it unlawful to take, possess, buy, sell, purchase, or barter any migratory bird
listed in 50 CFR Section 10, including feathers or other parts, nests, eggs, or products, except as
allowed by implementing regulations (50 CFR Section 21). Most of birds found in the project area
would be protected under the MBTA.
STATE
California Endangered Species Act
Under the California Endangered Species Act (CESA), the CDFW has the responsibility for
maintaining a list of endangered and threatened species (FGC Section 2070). The CDFW also
maintains a list of “candidate species,” which are species formally noticed as being under review
for potential addition to the list of endangered or threatened species, and a list of “species of
special concern,” which serves to monitor species in decline, and others on species “watch lists.”
State-listed species are fully protected under the mandates of the CESA. Take of protected
3.3 BIOLOGICAL RESOURCES
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Draft SEIR July 2017
3.3-8
species incidental to otherwise lawful management activities may be authorized under FGC
Section 206.591. Authorization from the CDFW would be in the form of an incidental take permit.
California Fish and Game Code
Birds of Prey
Under FGC Section 3503.5, it is unlawful to take, possess, or destroy any birds in the orders
Falconiformes or Strigiformes (birds of prey) or to take, possess, or destroy the nest or eggs of any
such bird except as otherwise provided by the Fish and Game Code or any regulation adopted
pursuant thereto.
Fully Protected Species
California statutes also afford fully protected status to a number of specifically identified birds,
mammals, reptiles, and amphibians. These species cannot be taken, even with an incidental take
permit.
California Native Plant Society
The CNPS maintains a list of special-status plant species based on collected scientific information.
Designation of these species by the CNPS are as follows:
CRPR 1A: plants presumed extinct
CRPR 1B: plants rare, threatened, or endangered in California and elsewhere
CRPR 2: plants rare, threatened, or endangered in California, but more numerous
elsewhere
CRPR 3: plants about which more information is needed—a review list
CRPR 4: plants of limited distribution—a watch list
In general, plants appearing on CNPS List 1A, 1B, or 2 meet the criteria of Section 15380 of the
CEQA Guidelines; thus, substantial adverse effects to these species would be considered
significant.
LOCAL
City of South San Francisco General Plan
The Open Space and Conservation Chapter of the City’s General Plan includes policies for the
protection of biological resources. South San Francisco contains two areas that are set aside as
habitat for the conservation of threatened and endangered species: San Bruno Mountain and a
portion of Sign Hill (South San Francisco 2014). These areas are subject to the San Bruno Mountain
Habitat Conservation Plan. However, the project site is located approximately 0.8 mile from the
base of San Bruno Mountain and is not subject to the provisions of the HCP. The following policy
from the General Plan is relevant to the project:
7.1-G-1 Protect special status species and supporting habitats within South San Francisco,
including species that are State or federally listed as Endangered, Threatened, or
Rare.
3.3 BIOLOGICAL RESOURCES
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July 2017 Draft SEIR
3.3-9
City of South San Francisco Municipal Code
Title 13, Public Improvements, Chapter 13.30, Tree Preservation, establishes regulations for the
preservation of trees. A tree is protected if it conforms to the following criteria: (1) Any tree with a
circumference of 48 inches or more when measured 54 inches above natural grade; (2) A tree or
stand of trees so designated by the Director of the Parks and Recreation Department based on
findings that it is unique and of importance to the public due to its unusual appearance, location,
historical significance or other factor; or (3) A stand of trees in which the Director has determined
each tree is dependent upon the others for survival. The removal or alternation of a protected
tree requires a permit from the Director. The following measures would be applied to protected
trees not slated for removal:
a) Chemicals or other construction materials shall not be stored within the dripline of
protected trees.
b) Drains shall be provided as required by the Director whenever soil fill is placed around
protected trees.
c) Signs, wires, or similar devices shall not be attached to protected trees.
d) If the proposed development, including any site work for the development, will encroach
upon the dripline of a protected tree, special measures shall be utilized, as approved by
the Director of the Parks and Recreation Department or the Parks and Recreation
Commission, to allow the roots to obtain oxygen, water, and nutrients as needed. Any
excavation, cutting, filling, or compaction of the existing ground surface within the
protected perimeter, if authorized at all by the Director, shall be minimized and subject to
such conditions as may be imposed by the Director. No significant change in existing
ground level shall be made within the dripline of a protected tree. No burning or use of
equipment with an open flame shall occur near or within the protected perimeter.
e) Underground trenching for utilities shall avoid major support and absorbing tree roots of
protected trees. If avoidance is impractical, tunnels shall be made below the roots.
Trenches shall be consolidated to service as many units as possible. Trenching within the
dripline of protected trees shall be avoided to the greatest extent possible and shall only
be done under the at-site directions of a certified city arborist.
f) No concrete or asphalt paving shall be placed over the root zones of protected trees.
g) No compaction of the soil within the root zone of protected trees shall occur.
The following measures would be applied to protected trees that are planned to be removed:
a) Replacement shall be three 15-gallon-size or two 24-inch-box-minimum-size landscape
trees for each tree removed as determined below. However, the Director of the Parks and
Recreation Department maintains the right to dictate size and species of trees in new
developments. Permits for tree removal shall expire after four months. Applicants shall
reapply if work has not been completed within four months after the Director’s approval.
A deposit to the tree planting fund shall be made by an applicant and held by the Parks
and Recreation Department for tree replacements. Deposits will be refunded on proof of
replanting trees. If proof that the replacement trees have been planted has not been
submitted to the Director within four months of the tree removal, a payment to the tree
3.3 BIOLOGICAL RESOURCES
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Draft SEIR July 2017
3.3-10
planting fund in the amount of the current cost of two 24-inch-box trees of a species
dictated by the Director shall be made.
b) Any protected tree removed without a valid permit shall be replaced by three 24-inch-
box-minimum-size landscape trees, of a species approved by the Director, for each tree
so removed as determined below. If proof that the replacement trees have been
satisfactorily planted has not been submitted to the Director within four months of the tree
removal, a payment to the tree planting fund in the amount of the current cost of three
24-inch-box trees, of a species dictated by the Director, shall be made to the City, in an
amount not to exceed $1,000. Such payment shall be in addition to any other penalties
imposed by the City for violation of this chapter.
c) Replacement of a protected tree can be waived by the Director if a sufficient number of
trees exists on the property to meet all other requirements of the tree preservation chapter.
d) At the Director’s discretion, if replacement trees, as designated in subsection (a) or (b) of
this section, as applicable, cannot be planted on the property, payment in the amount of
the replacement value of the tree as determined by the International Society of
Arboriculture Standards, plus the costs to the City to plant an equivalent tree elsewhere in
the city, shall be made to the City.
e) All payments made in restitution for violation of the tree preservation chapter, or non-
refunded tree replacement deposits retained by the City, shall be deposited in the tree
planting fund, to be drawn upon for public tree purchase and planting.
Changes in the CEQA Guidelines
There have been no changes in the CEQA Guidelines since 2011 that are relevant to the analysis
of biological impacts.
3.3.4 IMPACTS AND MITIGATION MEASURES
STANDARDS OF SIGNIFICANCE
The impact analysis provided below is based on the application of the CEQA Guidelines Appendix
G thresholds of significance. A project is considered to have significant impacts if implementation
of the project would:
1) Have a substantial adverse effect, either 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 CDFW or the US Fish and Wildlife Service (USFWS).
2) Have a substantial adverse effect on any riparian habitat or other sensitive natural
community identified in local or regional plans, policies, or regulations, or by the CDFW or
USFWS.
3) Have a substantial adverse effect on federally protected wetlands, as defined by Section
404 of the Clean Water Act (including, but not limited to, marsh, vernal pool, coastal
wetlands, etc.), through direct removal, filling, hydrological interruption, or other means.
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July 2017 Draft SEIR
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4) Interfere substantially with the movement 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.
5) Conflict with any local policies or ordinances protecting biological resources, such as a
tree preservation policy or ordinance.
6) Conflict with the provisions of an adopted habitat conservation plan, natural community
conservation plan, or other approved local, regional, or state habitat conservation plan.
7) Substantially reduce the number or restrict the range of an endangered, rare, or
threatened plant or animal species or biotic community, thereby causing the species or
community to drop below self-sustaining levels.
CEQA Guidelines Section 15380 further provides that a plant or wildlife species may be treated as
“rare or endangered” even if not on one of the official lists if, for example, it is likely to become
endangered in the foreseeable future.
METHODOLOGY
The analysis of biological impacts was conducted by reviewing the previous analysis of the project
setting and impact discussion. Although the previous 2011 ECR/C EIR did not identify any impacts
on biological resources, a review of modern database searches and a site survey were conducted
to map any changes to vegetative communities or suitable special-status species habitat.
A search of the USFWS Information for Planning and Conservation (IPaC) System (2017a) and Critical
Habitat Portal (2017b) was performed to identify federally protected species and their habitats that
may be affected by the project. In addition, a query of the CNDDB (CDFW 2017) was conducted
for the South San Francisco US Geological Survey (USGS) 7.5-minute quadrangle (quad) and all
adjacent quads (San Francisco North, San Francisco South, Point Bonita, Montara Mountain,
Oakland West, and San Mateo) to identify known processed and unprocessed occurrences for
special-status species. Lastly, the CNPS (2017) database was queried to identify additional special-
status plant species with the potential to occur in the aforementioned quads. Raw data from the
database queries can be found in Appendix BIO. Figure 3.3-2, Previously Recorded Occurrences
of Special-Status Species within One Mile of the Project Site, depicts the locations of special-status
species recorded within a 1-mile radius of the project site.
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Figure 3.3-2Previously Recorded Occurrences of Special-Status Specieswithin One Mile of the Project Site
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Inverte brate
Pla nt
Map ID Scientific Name Common Name Federal Listing State Listing Rare Plant Rank1Amsinckia lunaris bent-flowered fiddleneck None None 1B.22Chorizanthe robusta var. robusta robust spineflower Endangered None 1B.13Dufourea stagei Stage's dufourine bee None None4Falco peregrinus anatum American peregrine falcon Delisted Delisted5Hemizonia congesta ssp. congesta congested-headed hayfield tarplant None None 1B.26Horkelia cuneata var. sericea Kellogg's horkelia None None 1B.17Horkelia marinensis Point Reyes horkelia None None 1B.28Melospiza melodia pusillula Alameda song sparrow None None9Plebejus icarioides missionensis Mission blue butterfly Endangered None10Speyeria callippe callippe callippe silverspot butterfly Endangered None11Thamnophis sirtalis tetrataenia San Francisco gartersnake Endangered Endangered12Trifolium amoenum two-fork clover Endangered None 1B.113Triphysaria floribunda San Francisco owl's-clover None None 1B.2
3.3 BIOLOGICAL RESOURCES
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.3-15
PROJECT IMPACTS AND MITIGATION MEASURES
Candidate, Sensitive, or Special-Status Plant or Animal Species (Standard of Significance 1)
Impact 3.3.1 Project construction could result in impacts on special-status species, including
special-status bats and nesting raptors and other birds. This impact would be
less than significant with mitigation.
2011 ECR/C Area Plan Impacts
The 2011 ECR/C EIR did not find any impacts to special-status species within the planning area.
Three special-status species were analyzed for the potential to occur in the project area: San
Francisco garter snake, Alameda song sparrow, and congested-headed hayfield tarplant. The
analysis concluded that there were no wetlands, coastal resources, or other habitats within the
planning area suitable to support these species.
Subsequent Project Impacts
The project site is within the original 2011 ECR/C planning area and remains fairly consistent with
the conditions analyzed in the 2011 EIR. The project site does not contain any wetlands, adjacent
coastal resources, or other aquatic features that might provide suitable habitat for the above-
mentioned species. Although Colma Creek is located immediately east of the eastern project site,
it is completely channelized and lined with concrete sides, with no aquatic vegetation present.
Therefore, Colma Creek in this area is not suitable to support special-status aquatic species such
as western pond turtle (Actinemys marmorata). Therefore, the three species discussed in the
previous EIR still do not have the potential to occur on the project site. However, the site survey
results showed that the disturbed habitat and large trees on the project site may provide suitable
habitat for nesting raptors, migratory birds, and special-status bats.
The large eucalyptus trees and mature ornamental trees may provide suitable nesting habitat for
raptors and other birds. The disturbed habitat is suitable foraging habitat for some raptors and
other birds, as well as nesting habitat for ground nesting birds such as killdeer (Charadrius
vociferous). The large trees may also provide suitable roosting habitat for various special-status
bat species, and the disturbed habitat provides suitable foraging habitat. Construction activities
involving tree removal, demolition, grading, and vegetation clearing may cause direct mortality
or damage to nests. In addition, construction activities near active nests may result in nest
abandonment, which would be a significant impact. Therefore, mitigation measures MM 3.3.1a
through MM 3.3.1f would be required. Implementation of these mitigation measures would reduce
the revised project’s impacts to less than significant.
Mitigation Measures
MM 3.3.1a If clearing and/or construction activities would occur during the bird breeding
season (typically January through July for raptors and February 15 through
August 15 for other birds), a qualified biologist shall conduct preconstruction
surveys to identify active nests within 3 days prior to construction initiation,
particularly vegetation clearing and ground-disturbing activities. Surveys must
be performed by a qualified biologist for the purposes of determining
presence/absence of active nest sites within the proposed impact area,
including construction access routes and a 500-foot buffer (if feasible). If no
active nests are found, no further mitigation is required. Surveys shall be
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Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.3-16
repeated if construction activities are delayed or postponed for more than 7
days.
MM 3.3.1b If an active nest is located during preconstruction surveys, construction
activities shall be restricted as necessary to avoid disturbance of the nest until
it is deemed inactive by a qualified biologist. Restrictions shall include
establishment of exclusion zones (no ingress of personnel or equipment) at a
minimum radius of 300 feet around an active raptor nest and 100 feet around
other active bird nest(s). Activities permitted within exclusion zones and the size
may be adjusted through consultation with the CDFW.
MM 3.3.1c Vegetation containing active nests that must be removed as part of the project
shall be removed during the non-breeding season (August 16 through
December 31).
MM 3.3.1d Prior to the removal of any trees or buildings, a qualified biologist shall conduct
a bat survey between March 1 and July 31. If bat roosts are identified, the City
shall require that the bats be safely flushed from the sites where roosting habitat
is planned to be removed prior to roosting season (typically May to August)
and prior to the start of construction activities. If maternity roosts are identified
during the maternity roosting season (typically May to September), they must
remain undisturbed until a qualified biologist has determined the young bats
are no longer roosting. If roosting is found to occur on-site, replacement roost
habitat (e.g., bat boxes) shall be provided to offset the roosting sites removed.
If no bat roosts are detected, then no further action is required if the trees and
buildings are removed prior to the next breeding season. If removal is delayed,
an additional survey shall be conducted 30 days prior to removal to ensure that
a new colony has not established itself.
MM 3.3.1e If a female or maternity colony of bats are found on the project site, and the
project can be constructed without the elimination or disturbance of the
roosting colony (e.g., if the colony roosts in a large tree not planned for
removal), a qualified biologist shall determine what buffer zones shall be
employed to ensure the continued success of the colony. Such buffer zones
may include a construction-free barrier of 200 feet from the roost and/or the
timing of the construction activities outside of the maternity roosting season
(after July 31 and before March 1).
MM 3.3.1f If an active nursery roost is documented on-site and the project cannot be
conducted outside of the maternity roosting season, bats shall be excluded
from the site after July 31 and before March 1 to prevent the formation of
maternity colonies. Nonbreeding bats shall be safely evicted, under the
direction of a bat specialist in coordination with the CDFW.
Riparian Habitat or Other Sensitive Communities (Standard of Significance 2)
Impact 3.3.2 There are no riparian habitat or special-status vegetation communities on the
project site. Therefore, the project would have no impact.
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City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.3-17
2011 ECR/C Area Plan Impacts
The 2011 ECR/C EIR did not identify any riparian habitats or other natural communities in the
planning area.
Subsequent Project Impacts
The conditions on the project site have not changed since the original EIR analysis in regard to
special-status communities. There are still no riparian habitats or special-status vegetation
communities in the project site. Therefore the revised project would continue to have no impact.
Mitigation Measures
None required.
Wetlands or Waters of the United States (Standard of Significance 3)
Impacts 3.3.3 There are no wetlands or waters of the United States on the project site.
Therefore, the project would have no impact.
2011 ECR/C Area Plan Impacts
The 2011 ECR/C EIR did not identify any wetlands or other waters of the United States in the
planning area.
Subsequent Project Impacts
The conditions on the project site have not changed since the original EIR analysis in regard to
wetlands and aquatic resources. There are still no wetlands or waters of the United States on the
project site. Therefore the revised project would continue to have no impact.
Mitigation Measures
None required.
Wildlife Movement (Standard of Significance 4)
Impact 3.3.4 The project would not result in impacts on the movement of native resident or
migratory fish or wildlife species or established migratory corridors. As such, the
project would have no impact.
2011 ECR/C Area Plan Impacts
The 2011 ECR/C EIR analysis showed that the project site was highly urbanized, was not located in
a migratory corridor, and would not interfere with any wildlife migration routes.
Subsequent Project Impacts
The conditions in the project site have not changed since the original EIR analysis in regard to
wildlife movements. Available data on movement corridors and linkages was accessed via the
CDFW BIOS Viewer (CDFW 2017). Data reviewed includes the Essential Connectivity Areas [ds623]
layer and the Missing Linkages in California [ds420] layer. The project site is not located within an
3.3 BIOLOGICAL RESOURCES
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.3-18
identified corridor. In addition, the project area is primarily urbanized, does not provide suitable
movement opportunities, and is surrounded by additional urban land uses. Therefore the revised
project would continue to have no impact.
Mitigation Measures
None required.
Conflict with Local Policies (Standard of Significance 5)
Impact 3.3.5 The project may result in the removal of several trees protected under the City
of South San Francisco Municipal Code. The project would comply with the
provisions in the Municipal Code regarding tree removal permits. In addition,
the project would not conflict with General Plan policies regarding natural
resources. Therefore, this impact would be less than significant.
2011 ECR/C Area Plan Impacts
The 2011 ECR/C EIR analysis identified that tree removals may be required under implementation
of the El Camino Real/Chestnut Avenue Area Plan. Tree removals would be subject to City of
South San Francisco Municipal Code, Chapter 13.30, Tree Preservation. In addition, the 2011
ECR/C EIR found that the Area Planit would not conflict with the City’s 1999 General Plan.
Subsequent Project Impacts
The project impacts would not differ from those analyzed in the 2011 ECR/C EIR. The project would
still require removal of several trees that would be subject to the City’s Municipal Code, Chapter
13, Tree Preservation. The code requirements would protect trees that are not removed by taking
care to keep chemicals and other construction materials away from the dripline of protected
trees, not encroaching upon the dripline of a protected tree, not attaching signs, wires, or similar
devices to the trees, and safeguarding the major root areas of protected trees. The code also
requires replacement trees of three 15-gallon-size or two 24-inch-box-minimum-size landscape
trees for each tree removed as approved with a tree permit. In addition, the project would not
conflict with General Plan policies regarding natural resources. Therefore, the project would
comply with all applicable land use plans and policies regulating biological resources. The revised
project’s impacts would continue to be less than significant.
Mitigation Measures
None required.
Conservation Plans (Standard of Significance 6)
Impact 3.3.6 The project would not conflict with the provisions of an adopted habitat
conservation plan, natural community conservation plan, or other approved
local, regional, or state plan. The project would have no impact.
2011 ECR/C Area Plan Impacts
The 2011 ECR/C EIR analysis stated that the planning area was not located within any conservation
plan areas. The project was not subject to the San Bruno Mountain Habitat Conservation Plan.
There was no impact identified.
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3.3-19
Subsequent Project Impacts
The project impacts would be similar to those analyzed in the 2011 ECR/C. The San Bruno Mountain
Habitat Conservation Plan covers the open areas and habitats on San Bruno Mountain. Although
San Bruno Mountain is located less than 1 mile from the project site, the project would not be
subject to the HCP. The revised project would continue to have no impact.
Mitigation Measures
None required.
Special-Status Species Populations (Standard of Significance 7)
Impact 3.3.7 The project may reduce or restrict the range of an endangered, rare,
threatened, or special-status animal or plant species, causing it to drop below
self-sustaining levels. As discussed in Impact 3.3.1, special-status species may
be affected by the project. The impact would be less than significant with
mitigation.
2011 ECR/C Area Plan Impacts
Refer to Impact 3.3.1 above. The 2011 ECR/C EIR did not find any impacts to special-status species
in the planning area.
Subsequent Project Impacts
Refer to Impact 3.3.1 above. The project has the potential to impact special-status bats and
raptors and other birds through direct mortality or disturbance from construction activities.
However, implementation of mitigation measures MM 3.3.1a through MM 3.3.1f would reduce
impacts to less than significant with mitigation by restricting the timing of construction activities,
requiring preconstruction surveys for nests and bat roosts, and requiring buffers for active nests on
or near the project site.
Mitigation Measures
MM 3.3.1a through MM 3.3.1f
3.3.5 CUMULATIVE SETTING, IMPACTS, AND MITIGATION MEASURES
CUMULATIVE SETTING
The project site and the surrounding areas of San Mateo County were considered for the purpose
of evaluating cumulative biological resources impacts.
CUMULATIVE IMPACTS AND MITIGATION MEASURES
Cumulative Biological Resources Impacts
Impact 3.3.8 Cumulative development could result in impacts on biological resources. The
proposed project’s contribution would be less than cumulatively considerable
with mitigation.
3.3 BIOLOGICAL RESOURCES
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.3-20
2011 ECR/C Area Plan Impacts
The 2011 ECR/C EIR did not identify any impacts on biological resources and did not find any
cumulatively considerable impacts on biological resources.
Subsequent Project Impacts
Future development in San Mateo County may result in degradation of wildlife habitat and
protected wetlands. This may result in impacts on special-status species when combined with
other habitat impacts occurring from development in surrounding areas. Increased development
and disturbance created by human activities (e.g., fires, increased nighttime lighting, and
reduced access to habitat and movement corridors) could result in direct mortality, habitat loss,
and deterioration of habitat suitability.
The project site is located in an urban area and is surrounded by development. The approximately
1.5 acres of disturbed habitat provides marginally suitable habitat for several species of birds and
bats. Implementation of the project would not result in a substantial reduction in habitat for
special-status species when combined with the development in the larger region. Implementation
of mitigation measures MM 3.3.1a through MM 3.3.1f would reduce the proposed project’s
impacts and further ensure that the revised project would continue to have a less than
cumulatively considerable contribution to impacts on special-status species.
Mitigation Measures
MM 3.3.1a through MM 3.3.1f
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July 2017 Draft SEIR
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3.3.6 REFERENCES
CDFW (California Department of Fish and Wildlife). 2017. California Natural Diversity Database
(CNDDB) QuickView Tool in BIOS 5. Sacramento: CDFW Biogeographic Data Branch.
https://www.dfg.ca.gov/biogeodata/cnddb /mapsanddata.asp.
CNPS (California Native Plant Society). 2017. Inventory of Rare and Endangered Plants (online
edition, v8-01a). Sacramento: CNPS. http://www.rareplants.cnps.org/.
South San Francisco, City of. 2011a. El Camino Real/Chestnut Avenue Area Plan – General Plan
Amendment.
———. 2011b. City of South San Francisco El Camino Real/Chestnut Avenue Area Plan, and
associated General Plan Amendment, and Zoning Ordinance Amendment. Final
Environmental Impact Report.
———. 2014. South San Francisco General Plan.
USFWS (US Fish and Wildlife Service). 2017a. Information for Planning and Conservation (IPaC)
System. http://ecos.fws.gov/ipac/.
———. 2017b. Critical Habitat Portal. http://ecos.fws.gov/crithab/.
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3.4 – CULTURAL RESOURCES
3.4 CULTURAL RESOURCES
South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.4 -1
This section considers and evaluates the proposed project’s potential impacts on cultural
resources. Cultural resources include historic buildings and structures, historic districts, historic
resource sites, prehistoric and historic archaeological sites, and other prehistoric and historic
objects and artifacts. Paleontological resources include vertebrate, invertebrate, and plant fossils.
The following definitions are common terms used to discuss the regulatory requirements and
treatment of cultural resources:
Cultural resources is the term used to describe several different types of properties:
prehistoric and historical archaeological sites; architectural properties such as buildings,
bridges, and infrastructure; and resources of importance to Native Americans.
Historic properties is a term defined by the National Historic Preservation Act (NHPA) as any
prehistoric or historic district, site, building, structure, or object included on, or eligible for
inclusion on, the National Register of Historic Places (NRHP), including artifacts, records,
and material remains related to such property.
Historical resource is a California Environmental Quality Act (CEQA) term that includes
buildings, sites, structures, objects, or districts, each of which may have historical,
prehistoric, architectural, archaeological, cultural, or scientific importance and is eligible
for listing or is listed in the California Register of Historical Resources (CRHR).
Paleontological resource is defined as including fossilized remains of vertebrate and
invertebrate organisms, fossil tracks and trackways, and plant fossils. A unique
paleontological site would include a known area of fossil-bearing rock strata.
The information in this subsection is based on the cultural resources report prepared for the project
by Michael Baker International (Appendix CUL).
3.4.1 SEIR IMPACT SUMMARY
A summary of the Community Civic Campus Project impact conclusions related to cultural
resources is provided below.
Impact Number Impact Topic Impact Significance
3.4.1 Adverse effect on historic resources Less than significant
3.4.2 Adverse effect on archaeological resources Less than significant with mitigation
3.4.3 Adverse effect on paleontological resources Less than significant with mitigation
3.4.4 Adverse effect on human remains Less than significant
3.4.5 Cumulative impacts on cultural resources Less than cumulatively considerable with mitigation
Impacts identified in the El Camino Real/Chestnut Avenue Area Plan Environmental Impact
Report (ECR/C EIR) are summarized with the project impacts in subsection 3.4.4.
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3.4 -2
3.4.2 EXISTING SETTING
ECR/C AREA PLAN SETTING
The original project area consisted of 98 acres approximately 1 mile west of the San Francisco Bay;
the area has been urbanized with residential, commercial, and institutional land uses. The
planning area is generally flat to gently sloped and is located in the natural floodplain of Colma
Creek. The area had been under human habitation for some time, from prehistoric times to
modernity.
No sites in the planning area were listed on the National Register of Historic Places. However,
based on a records search by the Northwest Information Center (NWIC) of the California Historic
Resources Information System at Sonoma State University, Native American archaeological
resources and historic period cultural resources were located in the planning area. These
resources were:
A prehistoric site identified in the General Plan with the site number CA-SMA-299. This site
however has been completely destroyed.
A prehistoric site adjacent to the planning area with the site number CA-SMA-355.
1281 Mission Road is listed as an early twentieth century Queen Anne–style cottage built in
1900.
1080 Mission Road was the Twelve Mile house, a waystation for stagecoaches that has
been demolished. The site is identified as a historic marker site through the Historic Marker
Program created by the City of South San Francisco Historic Preservation Commission.
PROJECT SITE SETTING
Regional Context
Prehistory
The first survey of archaeological sites in the San Francisco Bay region was led by N. C. Nelson for
the University of California at Berkeley between 1906 and 1908, documenting 425 shell mounds.
These shell mounds typified Bay Area archaeology and reflected its economic unity, which relied
greatly on marine resources. Cultural materials discovered at the University Village Complex
(SMA-277) in San Mateo County indicate that the San Francisco Peninsula Region was inhabited
between circa 3,500 and 2,500 BC. Excavation and analysis of that site showed that the complex
is earlier than middle Horizon, yet unlike Early Horizon deposits, which led excavators to believe
that a pre-Costanoan or Early Bay culture once existed (South San Francisco 2011b).
Native American Period
The area was home to the Ohlone Native American tribe prior to the arrival of European settlers.
Several villages were located in the area, including along Colma Creek (South San Francisco
2011b).
3.4 CULTURAL RESOURCES
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Historic and Cultural Context
Spanish explorers were the first Europeans to arrive in the San Francisco Bay area. Juan Bautist de
Ana led an expedition in 1776 that established the San Francisco Mission. The Santa Clara Mission
was established several months later, and a road stretching between the two became a heavily
traveled route. This road was called El Camino Real. Its location is the current Mission Road and
not the current State Route 82, which is named El Camino Real.
During the Mexican rule of California, large tracts of land were issued to private individuals. The
project site was part of the 1820 Rancho Buri Buri land grant, which was one of the largest land
grants on the San Francisco Peninsula.
In 1856, Charles Lux bought Rancho Buri Buri and established the community of Baden. Baden was
never formally incorporated but was an agricultural and pastoral community. Charles Lux and a
rancher named Henry Miller founded a cattle company that supplied San Francisco stockyards.
The first local railroad was established in 1863. In 1888, the South San Francisco Land and
Improvement Company bought Rancho Buri Buri and an additional 2,000 acres and founded the
city of South San Francisco. The city was formally incorporated in 1908 (South San Francisco
2011b).
KNOWN CULTURAL RESOURCES IN AND AROUND THE PROJECT SITE
Records Search
On February 23, 2017, Michael Baker International staff conducted a records search at the
Northwest Information Center. The NWIC, as part of the California Historical Resources Information
System, an affiliate of the California Office of Historic Preservation (OHP), is the official state
repository of cultural resource records and reports for San Mateo County. As part of the records
search, the following federal and California inventories were reviewed:
California Inventory of Historic Resources.
California Points of Historical Interest.
California Historical Landmarks.
Directory of Properties in the Historic Property Data File. The directory includes the listings
of the National Register of Historic Places, National Historic Landmarks, California Register
of Historical Resources, California Historical Landmarks, and California Points of Historical
Interest for resources in San Mateo County.
No cultural resources were identified within the east or west project sites. Eight resources were
identified within a quarter-mile of the east or west project sites. Summary descriptions of the
resources are as follows:
Historic Resources
P-41-000394 – This circa 1930 industrial building was recorded in 1993. It was
recommended not eligible for listing in the NRHP. It is not listed in the San Mateo County
Historic Property Data File.
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P-41-000883 – This circa 1860 residence located at 1053 Grand Avenue was recorded
in 1986. It is listed in the San Mateo County Historic Property Data File as requiring
evaluation.
P-41-000384 – This circa 1930 single-family residence located at 114 B Street was
determined not eligible for listing in the NRHP in 1996.
P-41-000386 – This 1945 Mediterranean revival bungalow located at 136 B Street was
determined not eligible for listing in the NRHP in 1996.
P-41-000397 – This circa 1930 cottage located at 132 B Street was determined not
eligible for listing in the NRHP in 1996.
P-41-000398 – This circa 1950 single-family house located at 116 B Street was
determined not eligible for listing in the NRHP in 1996.
Archaeological Resources
P-41-000409/CA-SMA-299 – This shell midden site was originally recorded in 1989. It was
identified as a 2-kilometer-long shell midden with traces of shell and fire-altered rock,
plus two flakes. The site is noted to have been completely disturbed by landfill, planting
of exotic species, and urbanization. The site boundaries are unknown, and the site is
mapped outside and north of the east project site.
P-41-000495/CA-SMA-355 – This Late Period habitation site was discovered during
construction and was excavated and recorded in 2000. It consists of very dark grey to
black stiff clayey midden containing abundant burnt and unburnt marine shell
fragments, burnt and unburnt bone fragment, burnt and fire-cracked rock, charcoal,
chert flakes, and fragments of ground stone. Clark notes that the midden deposits
appear to be more than 2 meters thick at auger locations and the site is entirely buried
with no surface indications. The site boundaries are unknown and the site is mapped
outside and east of the east project site.
Ten cultural resources studies were completed within a quarter-mile radius of the east and west
project sites. No cultural resources studies were identified for the west project site; seven cultural
resource studies were identified for the east project site. These studies identified no cultural
resources on the project site. Each study is summarized in Table 3.4-1, Cultural Resource Studies
within One-Quarter-Mile Radius.
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3.4 -5
TABLE 3.4-1
CULTURAL RESOURCE STUDIES WITHIN ONE-QUARTER-MILE RADIUS
Author Date Title
David Chavez 1977 Cultural Resources Evaluation of the Colma Wastewater Collection System,
Town of Colma, San Mateo County, California.
Carolyn Rice 1994 BART-San Francisco Airport Extension Project: Draft Environmental Impact
Report/Supplemental Draft Environmental Impact Statement – Archaeological
Survey Report
Laurence H. Shoup,
Mark Brack, Nancy Fee,
and Bruno Giberti
1994 Historic Architectural Survey Technical Report
Matthew R. Clark 2008 Section 106 Compliance for the South San Francisco Wet Weather Program:
Phase II Archaeological Monitoring Report.
Randy Wiberg 2011 Memorandum: Cultural Resources Surveys for the Crystal Springs Pipeline
No. 2 Replacement Project (Construction Deviations Supplement)
Allen G. Pastron and
Michelle Touton
2011 Historic Context and Archaeological Survey Report for the Regional
Groundwater Storage and Recovery Project Area, San Mateo County,
California
Sunshine Psota 2015 Historic Property Survey Report for the South San Francisco Grand Blvd.
Project: El Camino Real (SR82) from Chestnut Avenue to Arroyo Drive
Source: Michael Baker International 2017
Historical Map Review
Historical maps for archaeological, ethnographic, historical, and environmental information about
the west and east project sites and their vicinities were reviewed to determine the presence of
cultural resources.
The east and west project sites were within Rancho Buri Buri in 1868. The Southern Pacific Railroad-
Monterey Line was depicted within the east project site by 1896, and by 1915, both the Southern
Pacific Railroad and United Interurban Electric Railroad ran through the east project site. From at
least 1896 to 1915, the east project site appears to have been part of Baden Station, though no
buildings are depicted. The railroads were located in the east project site until circa 1990. The Pet
Club building, located at 1 Chestnut Avenue, is first depicted in area maps and aerial
photographs in 1956.
Native American Consultation
No tribes have requested consultation with the City in accordance with Assembly Bill 52. No Native
American consultation was conducted in support of the proposed project; however the City has
provided notification of the Notice of Preparation and the Notice of Availability of the Subsequent
EIR to the Native American Heritage Commission.
Project Site Survey
Michael Baker Senior Cultural Resources Manager Nichole Jordan Davis conducted a cultural
resources field survey of the east and west project sites on February 27, 2017. The entire east and
west project sites were accessible during the survey. Ground visibility on the east project site varied
from 0 to 100 percent. The areas of 100 percent visibility were recently tilled and were surveyed
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using 10-meter transects. Areas that had not been tilled had 0 percent ground visibility and were
surveyed using 20-meter transects. Ground visibility on the west project site was 0 percent because
the area was fully paved. No archaeological deposits were observed.
Built Environment Evaluations
The existing buildings on the east and west project sites were evaluated for their eligibility for listing
in the California Register of Historical Resources. The Municipal Services Building on the western
project site and the existing retail location were not deemed eligible for listing. Full explanations
for each building can be found in Attachment 3 to the cultural resources letter report contained
in Appendix CUL.
3.4.3 REGULATORY FRAMEWORK
FEDERAL
Federal regulations for cultural resources are primarily governed by Section 106 of the National
Historic Preservation Act of 1966, which applies to actions taken by federal agencies. The goal of
the Section 106 review process is to offer a measure of protection to sites that are determined
eligible for listing on the NRHP. The criteria for determining NRHP eligibility are found in Title 36 Code
of Federal Regulations (CFR) Part 60. Section 106 of the NHPA requires federal agencies to take
into account the effects of their undertakings on historic properties and affords the federal
Advisory Council on Historic Preservation a reasonable opportunity to comment on such
undertakings. The council’s implementing regulations, Protection of Historic Properties, are found
in Title 36 CFR Part 800.
Archaeological site evaluation assesses the potential of each site to meet one or more of the
criteria for NRHP eligibility based on visual surface and subsurface evidence (if available) at each
site’s location, information gathered during the literature and records searches, and the
researcher’s knowledge of and familiarity with the historic or prehistoric context associated with
each site.
STATE
Historic Resources
Pursuant to Public Resources Code (PRC) Section 21084.1, a “project that may cause a substantial
adverse change in the significance of an historical resource is a project that may have a
significant effect on the environment.” Section 21083.2 requires agencies to determine whether
proposed projects would have effects on unique archaeological resources.
Historical resource is a term with a defined statutory meaning (PRC Section 21084.1 and CEQA
Guidelines Section 15064.5[a], [b]). The term embraces any resource listed in or determined to be
eligible for listing in the California Register of Historical Resources. The CRHR is administered through
the State Office of Historic Preservation and includes resources listed in or formally determined
eligible for listing in the NRHP, as well as some California State Landmarks and Points of Historical
Interest.
Properties of local significance that have been designated under a local preservation ordinance
(local landmarks or landmark districts) or that have been identified in a local historical resources
inventory may be eligible for listing in the CRHR and are presumed to be historical resources for
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3.4 -7
purposes of CEQA unless a preponderance of evidence indicates otherwise (PRC Section 5024.1
and California Code of Regulations, Title 14, Section 4850). Unless a resource listed in a survey has
been demolished, lost substantial integrity, or there is a preponderance of evidence indicating
that it is otherwise not eligible for listing, a lead agency should consider the resource to be
potentially eligible for the CRHR.
In addition to assessing whether historical resources potentially impacted by a proposed project
are listed or have been identified in a survey process (PRC Section 5024.1[g]), lead agencies have
a responsibility to evaluate them against the CRHR criteria prior to making a finding as to a
proposed project’s impacts on historical resources (PRC Section 21084.1 and CEQA Guidelines
Section 15064.5[a][3]). Following CEQA Guidelines Section 15064.5(a) and (b), a historical resource
is defined as any object, building, structure, site, area, place, record, or manuscript that:
a) Is historically or archaeologically significant, or is significant in the architectural,
engineering, scientific, economic, agricultural, educational, social, political, or cultural
annals of California; and
b) Meets any of the following criteria:
1) Is associated with events that have made a significant contribution to the broad
patterns of California’s history and cultural heritage;
2) Is associated with the lives of persons important in our past;
3) Embodies the distinctive characteristics of a type, period, region, or method of
construction, or represents the work of an important creative individual, or possesses
high artistic values; or
4) Has yielded, or may be likely to yield, information important in prehistory or history.
Archaeological Resources
In addition to the mitigation provisions pertaining to accidental discovery of human remains (PRC
Section 5097.98), the CEQA Guidelines also require that a lead agency make provisions for the
accidental discovery of archaeological resources, generally. Pursuant to CEQA Guidelines
Section 15064.5(f), these provisions should include an immediate evaluation of the find by a
qualified archaeologist. If the find is determined to be a historical or unique archaeological
resource, contingency funding and a time allotment sufficient to allow for implementation of
avoidance measures or appropriate mitigation should be available. Work could continue on other
parts of the building site while historical or unique archaeological resource mitigation takes place.
Furthermore, under CEQA, public agencies must consider the effects of their actions on unique
archaeological resources. Section 21083.2 requires agencies to determine whether proposed
projects would have effects on unique archaeological resources.
Archaeological resources may qualify as historical resources, and PRC Section 5024 requires
consultation with the Office of Historic Preservation when a project may impact archaeological
resources located on State-owned land.
CEQA also requires lead agencies to consider whether projects would impact unique
archaeological resources as outlined in PRC Section 21083.2(g). Treatment options under Section
21083.2 include activities that preserve such resources in place in an undisturbed state. Other
3.4 CULTURAL RESOURCES
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acceptable methods of mitigation under Section 21083.2 include excavation and curation or
study in place without excavation and curation (if the study finds that the artifacts would not meet
one or more of the criteria for defining a unique archaeological resource).
Paleontological Resources
Paleontological resources are classified as nonrenewable scientific resources and are protected
by state statute (PRC Chapter 1.7, Section 5097.5, and CEQA Guidelines Appendix G). No state or
local agencies have specific jurisdiction over paleontological resources. No state or local agency
requires a paleontological collecting permit to allow the recovery of fossil remains discovered as
a result of construction-related earth-moving on state or private land on a project site.
LOCAL
City of South San Francisco General Plan
The Open Space and Conservation Chapter of the City’s General Plan includes policies for the
protection of cultural resources.
7.5-G-I Conserve historic, cultural, and archaeological resources for the aesthetic,
educational, economic, and scientific contribution they make to South San
Francisco's identity and quality of life.
7.5-G-2 Encourage municipal and community awareness, appreciation, and support for
South San Francisco's historic, cultural, and archaeological resources. 7.5-1-4.
Ensure the protection of known archaeological resources in the city by requiring a
records review for any development proposed in areas of known resources.
7.5-I-5 In accordance with State law, require the preparation of a resource mitigation
plan and monitoring program by a qualified archaeologist in the event that
archaeological resources are uncovered.
South San Francisco Historic Preservation Survey (1985–1986)
The survey identifies the architectural and historic resources of South San Francisco. The survey is
intended to serve as a resource in the planning process, to integrate the preservation of cultural
resources with decisions affecting South San Francisco. By identifying potential historic resources,
the survey allows for the Historic Preservation Commission to review all requests for demolition
permits for these resources.
South San Francisco Historic Preservation Commission
The commission designates historic resources; reviews applications for altering or demolishing
historic resources; disseminates information to the public concerning structures, sites, and areas
deemed worthy of preservation; and considers and recommends to the City Council methods for
encouraging and achieving historical or architectural preservation. Procedures to identify and
designate historic resources are outlined in Section 2.56.120, Procedures for Designation of Historic
Resources, of the City’s Municipal Code.
El Camino Real/Chestnut Avenue Area Plan
The ECR/C Area Plan does not include policies regarding cultural resources.
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3.4.4 IMPACTS AND MITIGATION MEASURES
STANDARDS OF SIGNIFICANCE
Following Public Resources Code Sections 21083.2, 21084.1, and 5097.98, and CEQA Guidelines
Section 15064.5 and Appendix G, cultural resource impacts are considered to be significant if
project implementation would result in any of the following:
1) Cause a substantial adverse change in the significance of a historical resource as defined
in Public Resources Code Section 21084.1 and CEQA Guidelines Section 15064.5,
respectively.
2) Cause a substantial adverse change in the significance of an archaeological resource as
defined in CEQA Guidelines Section 15064.5.
3) Directly or indirectly destroy a unique paleontological resource or site or unique geological
feature.
4) Disturb or discover any human remains, including those interred outside of formal
cemeteries.
CEQA Guidelines Section 15064.5 defines “substantial adverse change” as physical demolition,
destruction, relocation, or alteration of the resource or its immediate surroundings such that the
significance of an historical resource is materially impaired. CEQA Guidelines Section 15064.5(b)(2)
defines “materially impaired” for purposes of the definition of substantial adverse change as
follows:
The significance of an historical resource is materially impaired when a project:
(A) Demolishes or materially alters in an adverse manner those physical characteristics of an
historical resource that convey its historical significance and that justify its inclusion in, or eligibility
for, inclusion in the California Register of Historical Resources; or
(B) Demolishes or materially alters in an adverse manner those physical characteristics that account
for its inclusion in a local register of historical resources pursuant to section 5020.1(k) of the Public
Resources Code or its identification in an historical resources survey meeting the requirements of
section 5024.1(g) of the Public Resources Code, unless the public agency reviewing the effects
of the project establishes by a preponderance of evidence that the resource is not historically
or culturally significant; or
(C) Demolishes or materially alters in an adverse manner those physical characteristics of a historical
resource that convey its historical significance and that justify its eligibility for inclusion in the
California Register of Historical Resources as determined by a lead agency for purposes of CEQA.
CEQA requires that if a project would result in an effect that may cause a substantial adverse
change in the significance of a historical resource or would cause significant effects on a unique
archaeological resource, then alternative plans or mitigation measures must be considered.
Therefore, prior to assessing effects or developing mitigation measures, the significance of cultural
resources must first be determined. The steps that are normally taken in a cultural resources
investigation for CEQA compliance are as follows:
Identify potential historical resources and unique archaeological resources;
Evaluate the eligibility of historical resources; and
Evaluate the effects of the project on eligible historical resources.
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Changes in the CEQA Guidelines
There have been no changes in the CEQA Guidelines since 2011 that are relevant to the analysis
of cultural resources impacts.
METHODOLOGY
The following impact analysis is based on a historical records search for the project at the NWIC,
historical map review, a project site survey, and built environment evaluations.
The CRHR evaluates a resource’s historic significance based on the following four criteria:
Criterion 1 (Event): Resources associated with events that have made a significant
contribution to the broad patterns of local or regional history, or the cultural heritage of
California or the United States.
Criterion 2 (Person): Resources associated with the lives of persons important to local,
California, or national history.
Criterion 3 (Design/Construction): Resources that embody the distinctive characteristics of
a type, period, region, or method of construction or that represents the work of a master
or possess high artistic values.
Criterion 4 (Information Potential): Resources that have yielded or have the potential to
yield information important to the prehistory or history of the local area, California, or the
nation.
PROJECT IMPACTS AND MITIGATION MEASURES
Adverse Effect on Historic Resources (Standard of Significance 1)
Impact 3.4.1 Project demolition and construction may have the potential to adversely affect
historic resources that appear on state historical inventories or may be eligible
for inclusion on such lists. This impact would be less than significant.
ECR/C Area Plan Impacts
The NWIC identified one recorded property in the planning area. This property, located at 1281
Mission Road, is listed as an early twentieth century Queen Anne–style cottage, built circa 1900–
1915. However, the cottage has since been demolished, and the current owner of 1281 Mission
Road (APN 010-430-180) is listed as the San Mateo County Transit District.
The NWIC also identified seven unrecorded properties in and around the planning area meeting
the Office of Historic Preservation’s minimum age standard that buildings, structures, and objects
45 years or older may be of historical value. However, in addition to age, these unrecorded
buildings, structures, and objects would have to possess architecturally significant elements or
integrity to be eligible for inclusion on the CRHR. The 1985–1986 South San Francisco Historic
Preservation Survey does not identify any local historic resources in the planning area.
Compliance with federal, state, and local laws would reduce potential impacts on historic
resources to less than significant (South San Francisco 2011b).
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Subsequent Project Impacts
The ECR/C EIR identified historic resources in the planning area. A new search was conducted to
determine whether any resources are located on the project site. During the search, conducted
at the NWIC at Sonoma State University, eight potentially historic resources were identified within
one-quarter mile of the project site. These sites are listed above. However, none are located on
the project site. A historic resources evaluation was undertaken on the existing buildings on the
eastern and western project sites; the structures were not considered eligible for listing on the
CRHR. The revised project’s demolition and construction would continue to have a less than
significant impact on historic resources.
Mitigation Measures
None required.
Adverse Effect on Archaeological Resources (Standards of Significance 2)
Impact 3.4.2 Project construction may have the potential to adversely affect undiscovered
archaeological resources. This impact would be less than significant with
mitigation.
2011 ECR/C Area Plan Impacts
One Native American archaeological resource was found within the planning area, but
evaluation of the resource found that the site had been destroyed and the project would have
no impact. The planning area is moderately sensitive for historic archaeological materials since it
includes the former edge of the marshlands. There may be potential for project construction to
impact prehistorical archaeological resources in the planning area.
Pursuant to CEQA Guidelines Section 15064.5(f), if potentially significant cultural resources are
discovered, work would stop in that area until a qualified archaeologist can assess the
significance of the find, and, if necessary, develop appropriate treatment measures in
consultation with the City of South San Francisco and other appropriate agencies and interested
parties. If the archaeologist determines that the find does not meet the CEQA standards of
significance, construction may proceed. On the other hand, if the archaeologist determines that
further information is needed to evaluate significance, Department of Economic and Community
Development staff would be notified and a data recovery plan would be prepared (South San
Francisco 2011b).
Subsequent Project Impacts
The NWIC identified two archaeological Native American sites within one-quarter mile of the
project site. One was a shell midden site and the other was a past habitation site. Both sites were
identified outside of the western project site. Due to the eastern project site’s location near Colma
Creek and the location of two identified archaeological resources near the site, project
construction has the potential to impact unidentified archaeological resources during ground
disturbance. Therefore, mitigation measures MM 3.4.2a and MM 3.4.2b would be required, which
would reduce the project’s impact through construction worker education and site monitoring on
the eastern project site. While the western project site has a low likelihood of unknown
archaeological resources, ground disturbance could uncover unknown resources. Therefore,
mitigation measure MM 3.4.2c would be required. The revised project’s impact would be less than
significant with mitigation.
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Mitigation Measures
MM 3.4.2a An archaeologist approved by the City and meeting the Secretary of the
Interior’s Standards for Archeology shall conduct a preconstruction meeting for
all construction workers who will be disturbing the ground on the eastern
project site. The preconstruction meeting shall cover archaeological and tribal
cultural resources sensitivity, safety, and next steps if a resource is identified,
and shall be conducted on the first day of construction.
MM 3.4.2b An archaeologist meeting the Secretary of the Interior’s Standards for
Archeology shall monitor all ground disturbance on the east project site. If an
archaeological resource is identified, the archaeologist will assess the find and
evaluate whether it is eligible for inclusion in the California Register of Historical
Resources, if applicable.
MM 3.4.2c If deposits of prehistoric or historic period archaeological resources are
encountered during project construction on the west project site, all work
within 50 feet will be halted until an archaeologist can evaluate the findings
and make recommendations. Prehistoric materials can include flaked-stone
tools (e.g., projectile points, knives, choppers) or obsidian, chert, or quartzite
toolmaking debris; culturally darkened soil (i.e., midden soil often containing
heat-affected rock, ash, and charcoal, shellfish remains, and cultural
materials); and stone milling equipment (e.g., mortars, pestles, handstones).
Historic period materials might include wood, stone, or concrete footings, walls,
and other structural remains; debris-filled wells or privies; and deposits of wood,
metal, glass, ceramics, and other refuse. The City shall consider the mitigation
recommendations and agree on implementation of the measure(s) that are
feasible and appropriate. Such measures may include avoidance,
preservation in place, excavation, documentation, curation, or other
appropriate measures. After the measures have been put into place,
construction activities may resume.
Adverse Effect on Paleontological Resources (Standard of Significance 3)
Impact 3.4.3 Project construction may adversely affect paleontological resources. Ground
disturbance has the potential to impact unknown paleontological resources.
The impact is less than significant with mitigation.
ECR/C Area Plan Impacts
According to the University of California Museum of Paleontology, South San Francisco contains
a record for the genus Equus, which includes horses, donkeys, and zebras. Equus has numerous
extinct species known only from fossils. However, the record indicates that the fossils are most likely
found on San Bruno Mountain or near the San Francisco Bay, both of which are outside the
planning area. Therefore, there would be no impact on paleontological resources (South San
Francisco 2011b).
Subsequent Project Impacts
As identified in the ECR/C EIR, South San Francisco has a record of paleontological resources.
While the project site is not located in an area known to have paleontological resources, ground
disturbance has the potential to impact unknown paleontological resources. Therefore, mitigation
measure MM 3.4.3 would be required, which would reduce potential impacts of the revised
project to less than significant with mitigation.
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Mitigation Measure
MM 3.4.3 If deposits of paleontological resources are encountered during project
construction on the west project site, all work within 50 feet will be halted until
a qualified paleontologist can evaluate the findings and make
recommendations. Work will not commence until significance of the find has
been determined and the find has been evaluated.
Adverse Effect on Human Remains (Standard of Significance 4)
Impact 3.4.4 Project construction may adversely affect unknown human remains. The
impact would be less than significant.
ECR/C Area Plan Impacts
Project construction would be in accordance with state laws pertaining to the discovery of human
remains. Accordingly, if human remains of Native American origin are discovered, a project
applicant and/or the City’s Department of Economic and Community Development staff would
be required to comply with state laws relating to the disposition of Native American burials, which
are under the jurisdiction of the Native American Heritage Commission (PRC Section 5097). If any
human remains are discovered or recognized in any location on a project site, there can be no
further excavation or disturbance of the site or any nearby area reasonably suspected to overlie
adjacent human remains until the proper procedures have been undertaken. Compliance with
these regulations and City General Plan policies reduces impacts to less than significant South San
Francisco 2011b).
Subsequent Project Impacts
While no known human remains are located on the project site, the history of human habitation
in the area could lead to the discovery of unknown human remains. The project would follow all
state laws pertaining to the discovery of human remains. If the human remains are of Native
American origin, the contractor would be required to comply with state laws relating to the
disposition of Native American burials, which are under the jurisdiction of the Native American
Heritage Commission (PRC Section 5097). If any human remains are discovered, excavation of the
area and all nearby areas that could be reasonably suspected to contain adjacent human
remains would immediately stop until the proper procedures have been undertaken. By
complying with state law, the revised project would continue to have a less than significant
impact on unknown human remains.
Mitigation Measures
None required.
3.4.5 CUMULATIVE SETTING, IMPACTS, AND MITIGATION MEASURES
CUMULATIVE SETTING
The cumulative setting associated with the project includes the project area and the entirety of
South San Francisco. Most cultural resources impacts are generally site-specific and not
cumulative in nature, as impacts generally vary by site characteristics and site history. However,
continued growth in the region would contribute to potential conflicts with cultural and
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paleontological resources. These resources include archaeological resources associated with
Native American activities and historic resources associated with settlement, farming, and
economic development.
CUMULATIVE IMPACTS AND MITIGATION MEASURES
Cumulative Impacts on Cultural Resources
Impact 3.4.5 The project, in addition to existing, approved, proposed, and reasonably
foreseeable development in the region, could result in cumulative impacts on
cultural resources. This impact would be less than cumulatively considerable
with mitigation.
2011 ECR/C Area Plan Impacts
Impacts on cultural resources will be mitigated by existing regulations, and therefore cumulative
impacts are not considered significant (ECR/C EIR, page 5-5).
Subsequent Project Impacts
Project implementation, in combination with other development in the city, could result in a
cumulative loss of known and previously undiscovered cultural resources and paleontological
resources in the region.
As discussed under Impacts 3.4.1, 3.4.2, and 3.4.3, no historical resources, archaeological
resources, or paleontological resources were identified on the project site through either the
records search or the cultural resources survey. However, project construction has the potential
to disturb undiscovered cultural resources (i.e., prehistoric sites, historical resources, isolated
artifacts and features), paleontological resources (i.e., fossils and fossil formations), and
unrecorded human remains.
The project would comply with the requirements of California Health and Safety Code Section
7050.5(b) related to previously undiscovered cultural and paleontological resources and human
remains and with California Public Resources Code Section 5097.98 protocol if Native American
remains are discovered.
With implementation of mitigation measures MM 3.4.2a, MM 3.4.2b, MM 3.4.2c, and MM 3.4.3, the
revised project’s contribution to cumulative impacts on cultural resources in the region would be
less than cumulatively considerable with mitigation.
Mitigation Measures
None required.
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3.4.6 REFERENCES
Michael Baker International. 2017. Confidential Cultural Resources Letter Report for the
Community Civic Campus Project, City of South San Francisco, San Mateo County,
California.
South San Francisco, City of. 2011a. El Camino Real/Chestnut Avenue Area Plan – General Plan
Amendment.
———. 2011b. City of South San Francisco El Camino Real/Chestnut Avenue Area Plan, and
associated General Plan Amendment, and Zoning Ordinance Amendment. Final
Environmental Impact Report.
———. 2014. South San Francisco General Plan.
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3.5 – GEOLOGY AND SOILS
3.5 GEOLOGY AND SOILS
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.5 -1
This section describes geologic hazards, such as ground shaking and liquefaction, and soil-
related hazards, such as expansive soils, in the project area. The section evaluates the potential
for the project site to affect or be affected by geologic and soil hazards and identifies feasible
mitigation measures to lessen significant impacts, where necessary.
3.5.1 SEIR IMPACT SUMMARY
A summary of the project’s impact conclusions related to geology and soils is provided below.
Impact Number Impact Topic Impact Significance
3.5.1 Fault rupture Less than significant
3.5.2 Ground shaking and liquefaction Less than significant with mitigation
3.5.3 Soil erosion Less than significant
3.5.4
Located on expansive soil, or unstable soil that
could result in landslide, lateral spreading,
subsidence, liquefaction, or collapse
Less than significant with mitigation
3.5.5 Cumulative geologic and soils hazards Less than cumulatively considerable
Impacts identified in the El Camino Real/Chestnut Avenue Area Plan Environmental Impact
Report (ECR/C EIR) are summarized with the project impacts in subsection 3.5.4.
3.5.2 EXISTING SETTING
ECR/C AREA PLAN SETTING
The original site analyzed in the ECR/C EIR consisted of 98 acres of urban, developed land in
South San Francisco. The planning area is located in the low-lying Colma Creek valley south of
the south slope of Sign Hill. Surface sediments were found to consist of Holocene alluvium and
bay sediments consisting primarily of silty sand, silt, or sandy silt, which are Quaternary in age.
Surface soils were found to be non-expansive and well drained, with low permeability and low
erosion potential. Several local pockets have high erosion potential and lower soil stability (South
San Francisco 2011b).
While the Bay Area contains many faults, including the San Andreas, the San Gregorio, the
Hayward, and the Calaveras, none of these are located in the planning area. The San Andreas
fault is located 2 miles to the west, while the San Bruno fault bisects the project area. The
planning area was not found to be within an Earthquake Safety Zone (or Alquist-Priolo Zone).
Other geologic hazards include liquefaction and landslides. Liquefaction is the transformation of
saturated loose, fine-grained sediment into a fluid-like state due to earthquake-induced ground
shaking. The liquefaction susceptibility in the planning area was identified as high, except in the
Colma Creek channel where it is moderate. The risk of landslides was identified as minimal due
to the area’s classification as “flatland” per the Association of Bay Area Governments (ABAG)
landslide susceptibility map (2017).
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REGIONAL AND PROPOSED PROJECT SITE GEOLOGIC SETTING
Faults and Seismicity
According to the California Geological Survey (2010) Fault Activity Map of California, no active
faults cross the project site. In addition, the project site is not located within the boundaries of
any Alquist-Priolo Earthquake Fault Zones (DOC 1974). The San Bruno fault crosses the project site
but is inactive (South San Francisco 2014). The San Andres fault is located approximately 2 miles
to the west.
The region has historically experienced strong ground shaking from large earthquakes and will
likely continue to do so. The project site is in an area known for generally high seismicity.
Permanent ground displacement, liquefaction, landslides, lurching, and other types of ground
movement can occur as a result of an earthquake.
Ground Shaking
Ground shaking is the most widespread effect of an earthquake. The sudden release of energy
in an earthquake causes waves to travel through the earth. These waves not only shake
structures to the breaking point but can trigger secondary effects such as landslides or other
types of ground failure.
The strength of an earthquake is generally expressed in two ways: magnitude and intensity.
Magnitude is a measure that depends on the seismic energy radiated by the earthquake as
recorded on seismographs. The most commonly used magnitude scale today is the moment
magnitude (Mw) scale. Moment magnitude is related to the physical size of fault rupture and
the movement (displacement) across the fault, and it is therefore a more uniform measure of the
strength of an earthquake.
The intensity at a specific location is a measure that depends on the effects of the earthquake
on people or buildings and is used to express the severity of ground shaking. Earthquake
intensities (ground shaking and damage) are estimated by the Modified Mercalli Intensity Scale,
which characterizes the intensity of an earthquake’s effects in a given locality and is based on
observations of earthquake effects in specific places. On the Modified Mercalli Intensity Scale,
values range from I to XII (see Table 3.5-1). While an earthquake has only one magnitude, it can
have various intensities, which decrease with distance from the epicenter (CGS 2002).
3.5 GEOLOGY AND SOILS
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July 2017 Draft SEIR
3.5-3
TABLE 3.5-1
MODIFIED MERCALLI INTENSITY SCALE
Modified
Mercalli
Scale
Effects of Intensity
I I. Not felt except by a very few under especially favorable conditions.
II–III
II. Felt only by a few persons at rest, especially on upper floors of buildings. Delicately suspended
objects may swing.
III. Felt quite noticeably by persons indoors, especially on upper floors of buildings. Many people do
not recognize it as an earthquake. Standing motor cars may rock slightly. Vibrations similar to the
passing of a truck. Duration estimated.
IV–V
IV. Felt indoors by many, outdoors by few during the day. At night, some awakened. Dishes, windows,
doors disturbed; walls make cracking sound. Sensation like heavy truck striking building. Standing
motor cars rocked noticeably.
V. Felt by nearly everyone, many awakened. Some dishes, windows, etc., broken; a few instances of
cracked plaster; unstable objects overturned. Disturbances of trees, poles, and other tall objects
sometimes noticed. Pendulum clocks may stop.
VI–VII
VI. Felt by all, many frightened. Some heavy furniture moved; a few instances of fallen plaster. Damage
slight.
VII. Everybody runs outdoors. Damage negligible in building of good design and construction; slight to
moderate in well-built ordinary structures; considerable in poorly built or badly designed structures;
some chimneys broken. Noticed by persons driving motor cars.
VIII–IX
VIII. Damage slight in specially designed structures; considerable in ordinary substantial buildings, with
partial collapse; great in poorly built structures. Panel walls thrown out of frame structures. Fall of
chimneys, factory stacks, columns, monuments, walls. Heavy furniture overturned. Sand and mud
ejected in small amounts. Changes in well water. Persons driving motor cars disturbed.
IX. Damage considerable in specially designed structures; well-designed frame structures thrown out of
plumb; great in substantial buildings, with partial collapse. Buildings shifted off foundations.
Ground cracked conspicuously. Underground pipes broken.
X or
higher
X. Some well-built wooden structures destroyed; most masonry and frame structures destroyed with
foundations; ground badly cracked. Rails bent. Landslides considerable from river banks and steep
slopes. Shifted sand and mud. Water splashed (slopped) over banks.
XI. Few, if any, (masonry) structures remain standing. Bridges destroyed. Broad fissures in ground.
Underground pipelines completely out of service. Earth slumps and land slips in soft ground. Rails
bent greatly.
XII. Damage total. Practically all works of construction are damaged greatly or destroyed. Waves seen
on ground surface. Lines of sight and level are distorted. Objects are thrown upward into the air.
Source: CGS 2002
The project site can be expected to experience strong ground shaking from earthquakes on
regional or local faults (South San Francisco 2014).
Liquefaction
Soil liquefaction is the loss of soil strength due to a significant seismic event. It occurs primarily
where the groundwater level is shallow and where loose to medium dense, fine to medium
grained sands and sandy silts occur within a depth of about 50 feet. Liquefaction potential
decreases as grain size and clay and gravel contents increase. According to the liquefaction
hazards map prepared by ABAG (2017), the eastern project site is in an area with high
susceptibility to liquefaction. The project site is located in the city’s lowland zone as designated
in the Health and Safety Element of the South San Francisco General Plan (2014). The entire
lowland zone is described as being susceptible to liquefaction.
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Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.5 -4
SOILS
The project area is underlain by Holocene alluvium and bay sediments consisting primarily of silty
sand, silt, or sandy silt (South San Francisco 2011b).
Erosion
Soil erosion is the process by which soils are worn away by precipitation and runoff or wind. Soil
type, degree of surface disturbance, vegetation cover, the amount of wind and rain, and
erosion control practices all impact the degree to which an area is eroded.
Expansive Soils
Expansive soils are soils that tend to shrink or swell depending on their moisture content. As
expansive soils get wet, the clay minerals absorb water molecules and expand; conversely, as
they dry, they shrink. When structures are located on expansive soils, foundations have the
tendency to rise during the wet season and shrink during the dry season. This movement can
create new stresses on various sections of the foundation and connected utilities and can lead
to structural failure and damage to infrastructure. Cracked foundations, floors, and basement
walls are typical types of damage created by expansive soils. Undisturbed native soils in the
project area may have a slight to moderate shrink-swell potential, which could result in
development constraints.
The project site is located in the city’s lowland zone as designated in the General Plan Health
and Safety Element (South San Francisco 2014). This area is known to have a high shrink-swell
potential and soil settlement.
3.5.3 REGULATORY FRAMEWORK
FEDERAL
Uniform Building Code
The purpose of the Uniform Building Code (UBC) is to establish minimum standards to preserve
the public peace, health, and safety by regulating the design, construction, quality of materials,
certain equipment, location, grading, use, occupancy, and maintenance of all buildings and
structures. UBC standards address foundation design, shear wall strength, and other structural-
related conditions.
STATE
Alquist-Priolo Earthquake Fault Zoning Act
The Alquist-Priolo Earthquake Fault Zoning Act was passed in 1972 to mitigate the hazard of
surface faulting to structures for human occupancy. The act’s main purpose is to prevent the
construction of buildings used for human occupancy on the surface of active faults. The act
requires the State Geologist to establish regulatory zones known as earthquake fault zones
around the surface traces of active faults and to issue appropriate maps.
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Seismic Hazards Mapping Act
The Seismic Hazards Mapping Act of 1990 directs the Department of Conservation, California
Geological Survey (CGS) to identify and map areas prone to liquefaction, earthquake-induced
landslides, and amplified ground shaking. The purpose of the act is to minimize loss of life and
property through the identification, evaluation, and mitigation of seismic hazards. The CGS has
published regulatory maps identifying areas that require special evaluation.
California Building Code
The State of California establishes minimum standards for building design through the California
Code of Regulations, Title 24, also known as the California Building Standard Code or the
California Building Code (CBC). The CBC is based on the Uniform Building Code but modifies
UBC regulations for specific conditions found in California and includes a large number of more
detailed and/or more restrictive regulations.
For example, the CBC includes common engineering practices requiring special design and
construction methods that reduce or eliminate potential expansive soil–related impacts. The
CBC requires structures to be built to withstand ground shaking in areas of high earthquake
hazards and the placement of strong motion instruments in larger buildings to monitor and
record the response of the structure and the site of seismic activity. Compliance with California
Building Code regulations ensures the adequate design and construction of building
foundations to resist soil movement. In addition, the CBC contains drainage requirements in
order to control surface drainage and to reduce seasonal fluctuations in soil moisture content.
LOCAL
City of South San Francisco General Plan
General Plan Chapter 8, the Health and Safety Element, contains the following guiding policy
related to geologic hazards:
8.1-G-l Minimize the risk to life and property from seismic activity and geologic hazards in
South San Francisco.
El Camino Real/Chestnut Avenue Area Plan
No ECR/C Area plan policies pertain to geology and soils impacts.
3.5.4 IMPACTS AND MITIGATION MEASURES
STANDARDS OF SIGNIFICANCE
This analysis evaluates the proposed project’s impacts on geology and soils based on the
standards identified in the California Environmental Quality Act (CEQA) Guidelines Appendix G.
A geology and soils impact is considered significant if the project would:
1) Expose people or structures to potential substantial adverse effects, including the risk of
loss, injury, or death involving:
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i) Rupture of a known earthquake fault, as 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 or other substantial evidence of a known fault. Refer to
Division of Mines and Geology Special Publication 42.
ii) Strong seismic ground shaking.
iii) Seismic-related ground failure, including liquefaction.
iv) Landslides.
2) Result in substantial soil erosion or the loss of topsoil.
3) Be 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.
4) Be located on expansive soils, as defined in Table 18-1-B of the Uniform Building Code
(1994) and in ASTM D4829-11, creating substantial risk to life or property.
5) Have soils incapable of adequately supporting the use of septic tanks or alternative
wastewater disposal systems where sewers are not available for the disposal of
wastewater.
Changes in the CEQA Guidelines
There have been no changes in the CEQA Guidelines since 2011 that are relevant to the analysis
of geology and soils impacts.
METHODOLOGY
The following qualitative impact analysis is based on a review of findings in the ECR/C EIR and
information available from ABAG, the USGS, and the California Department of Conservation.
Impacts Not Evaluated in Detail (Impacts 1.iv and 5)
The ECR/C EIR did not evaluate project impacts as they relate to the exposure of people or
structures to landslide (Standard of Significance 1[iv]) or impacts from soils incapable of
adequately supporting the use of septic tanks (Standard of Significance 5). ABAG designated
the planning area as “flatland” with no threat of landslide. The project site is not located in an
area that is susceptible to rainfall or earthquake-induced landslides (ABAG 2017). The planning
area is also served by the City’s municipal sewer system, and all future projects would be
connected to this system. The project would have no impact with respect to landslides or the
use of septic tanks.
PROJECT IMPACTS AND MITIGATION MEASURES
Fault Rupture (Standard of Significance 1[i])
Impact 3.5.1 Project implementation would not expose people or structures to the rupture
of a known earthquake fault. The impact would be less than significant.
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2011 ECR/C Area Plan Impacts
The ECR/C EIR found that the project would have a less than significant impact due to fault
rupture because of the lack of active faults in the planning area. The ECR/C EIR also indicated
that any projects in the planning area would implement the California Building Code and
Chapters 19.40 and 20.170 of the South San Francisco Municipal Code. Chapter 19.40 requires a
preliminary soils report as part of the City’s standard subdivision procedures. Chapter 20.170
requires all areas identified as seismic and geologic hazard areas in the City’s General Plan to
prepare a soils and geologic report prior to construction.
Subsequent Project Impacts
As described in subsection 3.5.2, Existing Setting, the project site is in a region known for its
seismic activity and would experience strong ground shaking from earthquakes on regional or
local faults. However, as described in the ECR/C EIR, the project would be required to comply
with the California Building Code. Compliance with the building standards in the California
Building Code and contained in Title 24 of the California Code of Regulations would protect
against building collapse and major injury. Therefore, the revised project’s impact would
continue to be less than significant.
Mitigation Measures
None required.
Ground Shaking and Liquefaction (Standards of Significance 1[ii] and 1[iii])
Impact 3.5.2 Project implementation may expose people or structures to seismic hazards
such as ground shaking or liquefaction. The impact would be less than
significant with mitigation.
2011 ECR/C Area Plan Impacts
As described in the ECR/C EIR, structures and infrastructure in the planning area would likely
experience at least one major earthquake during their functional lifetime. Building codes and
construction standards established by the California Building Code and contained in Title 24 of
the California Code of Regulations would protect against building collapse and major injury.
Additionally, the ECR/C EIR found that the project is in an area with a high liquefaction potential.
All projects in the planning area would comply with the California Building Code as well as
Chapters 15.08 and 19.40 of the City’s Municipal Code. Chapter 15.08 adopts and amends the
California Building Code. Chapter 19.40 requires a preliminary soils report using the City’s
standard subdivision procedure (South San Francisco 2011b). As such, compliance with the
existing building codes and construction standards would reduce seismic-related ground
shaking and liquefaction to less than significant levels.
Subsequent Project Impacts
As described in subsection 3.5.2, Existing Setting, the project site is in a region that is susceptible
to seismic activity and may experience an earthquake in the project’s lifetime. The site is also
known to be in an area susceptible to liquefaction. The project would be required to comply
with the California Building Code, which contains policies to reduce impacts from earthquakes
and liquefaction. Because the project site is located in an area with high seismic activity and
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susceptible to liquefaction, the project would have a potentially significant impact. With
implementation of mitigation measure MM 3.5.2, which requires that a site-specific geotechnical
report be prepared prior to construction, project impacts would be less than significant. The
revised project’s impact would be less than significant with mitigation incorporated.
Mitigation Measures
MM 3.5.2 Prior to construction, the City shall prepare a site-specific geotechnical report
for the project site. The report shall contain information regarding liquefaction,
landslides, ground shaking, surface faulting, and other geologic hazards. If the
report indicates the presence of soil conditions or geologic hazards which, if
not corrected, could lead to structural defects, the report shall recommend
corrective action that is likely to prevent structural damage to each structure
proposed to be constructed. These soil conditions shall include liquefaction
potential of the soil and the chance of subsidence and/or soil expansion. The
report shall be submitted for approval by the City Engineer, and all
recommended corrective actions shall be required to be present in the final
project plans.
Soil Erosion (Standard of Significance 2)
Impact 3.5.3 Project implementation may result in soil erosion due to construction and
operation activities. Therefore, the impact would be less than significant.
2011 ECR/C Area Plan Impacts
As described in the ECR/C EIR, plan implementation would result in soil erosion due to
construction and operation activities. The ECR/C EIR outlines policies required in the South San
Francisco Municipal Code for subdivision applications and compliance with National Pollutant
Discharge Elimination System (NPDES) General Construction Permit requirements. The ECR/C EIR
determined that mandatory compliance with the City’s Municipal Code and NPDES General
Construction Permit requirements would reduce impacts due to soil erosion to less than
significant levels (South San Francisco 2011b).
Subsequent Project Impacts
The project would disturb soil during project construction, and site soils would be exposed to the
erosive effects of wind and water. Additionally, landscaping activities would also result in soil
exposure and soil erosion.
Any development involving clearing, grading, or excavation that causes soil disturbance of 1 or
more acres would be subject to the State’s General Construction Permit (CGP) and would be
required to prepare and implement an approved storm water pollution prevention plan
(SWPPP). SWPPPs provide a schedule for the implementation and maintenance of erosion
control measures and a description of erosion control practices, including appropriate design
details and a time schedule. Because the project would involve clearing, grading, and
evacuation activities over an area of approximately 8.8 acres, the project would be required to
prepare a SWPPP.
The project would comply with Municipal Code Chapter 15.08, which requires the project to
obtain a grading permit from the City Engineer prior to excavation, grading, filling, clearing, or
erosion control measures.
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Compliance with adopted City Municipal Code sections and SWPPP implementation would
ensure that the revised project’s soil erosion and related impacts would continue to be less than
significant.
Mitigation Measures
None required.
Located on Expansive Soil, or Unstable Soil That Could Result in Landslide, Lateral Spreading,
Subsidence, Liquefaction, or Collapse (Standards of Significance 3 and 4)
Impact 3.5.4 The project would be located on unstable soils that would be subject to
subsidence, liquefaction, or collapse and could subject foundations and
paved areas to potential distress. This impact would be less than significant
with mitigation.
2011 ECR/C Area Plan Impacts
As described in the ECR/C EIR, due to the variability of soils in the planning area, it is possible that
future development could be subject to soil expansion and settlement. The ECR/C EIR outlines
policies required in the South San Francisco Municipal Code for subdivision application, which
require the preparation of a site-specific soil report as a way of reducing hazards related to
expansive or unstable soils. The ECR/C EIR concluded that compliance with these codes would
reduce impacts to a less than significant level (South San Francisco 2011b).
Subsequent Project Impacts
As described in subsection 3.5.2, Existing Setting, the project site is not in an area where
landslides have historically occurred. The project site is relatively flat and is not in an area that
has slopes which would be susceptible to landslides. Therefore, the project would have a less
than significant impact due to landslides.
Additionally, the project site is located in the city’s lowland zone. This area is known to have a
high shrink-swell potential and the potential for soil settlement. The project site is also in an area
with the potential for unstable soils. Construction on either would result in a potentially significant
impact. As such, the project would implement mitigation measure MM 3.5.2, which requires the
preparation of a geotechnical report and requires that any recommended building techniques
be implemented in the project’s construction plans. This mitigation measure would reduce
impacts to a less than significant level. Therefore, the revised project would have a less than
significant impact with mitigation.
Mitigation Measures
Implement mitigation measure MM 3.5.2.
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3.5.5 CUMULATIVE SETTING, IMPACTS, AND MITIGATION MEASURES
CUMULATIVE SETTING
Site-specific topography, soil conditions, and surrounding development determine geological
and soil-related impacts, which generally are not considered cumulative in nature. However,
erosion and sediment deposition can be cumulative, depending on the type and amount of
development proposed in a given geographical area. The cumulative setting for soil erosion
consists of existing, planned, proposed, and reasonably foreseeable land use conditions in the
project vicinity.
CUMULATIVE IMPACTS AND MITIGATION MEASURES
Cumulative Geologic and Soils Hazards
Impact 3.5.5 The project area is located in a seismically active region that puts the area at
risk for seismically induced ground shaking, liquefaction, and landslides. The
project would not contribute to cumulative soil erosion impacts. The project’s
contribution to this impact would be less than cumulatively considerable.
2011 ECR/C Area Plan Impacts
Impacts on geologic resources will be mitigated by existing regulations, and therefore
cumulative impacts are not considered significant (ECR/C EIR, page 5-5).
Subsequent Project Impacts
Geologic impacts tend to be site-specific rather than cumulative in nature. For example,
expansive soil may damage or impact the project, but would not cause any adjacent parcels
to become more susceptible to risks related to expansive soil. Similarly, hazards associated with
development on unstable soils would also be site-specific. Because the project area is built out
and graded, potential erosion effects would be limited to construction periods only and would
not be cumulatively considerable.
The project would be required to prepare a SWPPP and implement erosion control measures
though the City’s grading permit. This would reduce cumulative impacts from soil erosion to less
than significant levels. Therefore, the revised project’s contribution to this impact would continue
to be less than cumulatively considerable.
Mitigation Measures
None required.
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3.5.6 REFERENCES
ABAG (Association of Bay Area Governments). 2017. San Francisco Bay Region Hazards Map.
http://gis.abag.ca.gov/website/Hazards/?hlyr=existingLndsld.
CGS (California Geological Survey). 2002. How Earthquakes and Their Effects Are Measured.
Revised April 2002. Accessed September 2016.
http://www.conservation.ca.gov/cgs/information/publications/cgs_notes/note_32/docu
ments/note_32.pdf.
———. 2010. Fault Activity Map of California. http://maps.conservation.ca.gov/cgs/fam/.
DOC (California Department of Conservation). 1974. State of California Special Studies Zones,
San Mateo Quadrangle.
South San Francisco, City of. 2011a. El Camino Real/Chestnut Avenue Area Plan – General Plan
Amendment.
———. 2011b. City of South San Francisco El Camino Real/Chestnut Avenue Area Plan, and
associated General Plan Amendment, and Zoning Ordinance Amendment. Final
Environmental Impact Report.
———. 2014. South San Francisco General Plan.
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3.6 – GREENHOUSE GAS EMISSIONS
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This section discusses the project’s effect on greenhouse gas (GHG) emissions and the
associated effects of climate change. The reader is referred to Section 3.2, Air Quality, for a
discussion of project impacts associated with air quality.
3.6.1 SEIR IMPACT SUMMARY
A summary of the Community Civic Campus Project impact conclusions related to greenhouse
gases is provided below.
Impact Number Impact Topic Impact Significance
3.6.1 Generation of greenhouse gas emissions Less than significant
3.6.2 Compliance with the applicable GHG reduction plan Less than cumulatively considerable
Impacts identified in the El Camino Real/Chestnut Avenue Area Plan Environmental Impact
Report (ECR/C EIR) are summarized with the project impacts in subsection 3.6.4.
3.6.2 EXISTING SETTING
ECR/C AREA PLAN SETTING
The area originally analyzed in the 2011 ECR/C EIR consisted of approximately 98 acres of
primarily developed land located in South San Francisco. The 2011 ECR/C EIR described the
project site as primarily developed with commercial and medical uses, located in an urbanized
part of South San Francisco.
The ECR/C EIR analyzed energy use and GHG emissions in South San Francisco. Electricity and
natural gas are supplied by the Pacific Gas and Electric Company (PG&E). PG&E obtains energy
from power plants and natural gas fields in Northern California and delivers electricity through
high voltage transmission lines. Energy demand is slowly growing with population growth and an
increase in commercial activity. Transportation energy is dominated by automobiles and
commercial vehicles, with additional energy demand from ferries, buses, light rail, BART, and
commuter rail.
GHG emissions in South San Francisco were obtained from the 2005 Community-Wide
Greenhouse Gas Emissions Inventory prepared for the City. The transportation sector and the
commercial sector are the two largest contributors to GHG emissions. Together, these two
sectors emitted approximately 70 percent of all emissions in the city, each contributing
approximately 35 percent. Other major contributors are the waste sector (approximately 13.2
percent) and the residential sector (approximately 12.7 percent).
GLOBAL CLIMATE CHANGE
Certain gases in the earth’s atmosphere, classified as GHGs, play a critical role in determining
the earth’s surface temperature. Solar radiation enters the earth’s atmosphere from space. A
portion of the radiation is absorbed by the earth’s surface and a smaller portion of this radiation
is reflected back toward space. This absorbed radiation is then emitted from the earth as low-
frequency infrared radiation. The frequencies at which bodies emit radiation are proportional to
temperature. Because the earth has a much lower temperature than the sun, it emits lower-
frequency radiation. Most solar radiation passes through GHGs; however, infrared radiation is
absorbed by these gases. As a result, radiation that otherwise would have escaped back into
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space is instead “trapped,” resulting in a warming of the atmosphere. This phenomenon, known
as the greenhouse effect, is responsible for maintaining a habitable climate on earth. Without
the greenhouse effect, the earth would not be able to support life as we know it.
Prominent GHGs contributing to the greenhouse effect are carbon dioxide (CO2), methane
(CH4), and nitrous oxide (N2O). Fluorinated gases also make up a small fraction of the GHGs that
contribute to climate change. Fluorinated gases include chlorofluorocarbons,
hydrofluorocarbons, perfluorocarbons, sulfur hexafluoride, and nitrogen trifluoride; however, it is
noted that these gases are not associated with typical land use development. Human-caused
emissions of these GHGs in excess of natural ambient concentrations are believed to be
responsible for intensifying the greenhouse effect and leading to a trend of unnatural warming
of the earth’s climate, known as global climate change or global warming. It is “extremely likely”
that more than half of the observed increase in global average surface temperature from 1951
to 2010 was caused by the anthropogenic increase in GHG concentrations and other
anthropogenic factors together (IPCC 2014).
Table 3.6.1 describes the primary GHGs attributed to global climate change, including their
physical properties, primary sources, and contributions to the greenhouse effect.
TABLE 3.6-1
GREENHOUSE GASES
Greenhouse Gas Description
Carbon Dioxide (CO2)
Carbon dioxide is a colorless, odorless gas. CO2 is emitted in a number of ways, both
naturally and through human activities. The largest source of CO2 emissions globally is the
combustion of fossil fuels such as coal, oil, and gas in power plants, automobiles, industrial
facilities, and other sources. A number of specialized industrial production processes and
product uses such as mineral production, metal production, and the use of petroleum-based
products can also lead to CO2 emissions. The atmospheric lifetime of CO2 is variable
because it is so readily exchanged in the atmosphere.1
Methane (CH4)
Methane is a colorless, odorless gas and is the major component of natural gas, about 87
percent by volume. It is also formed and released to the atmosphere by biological processes
occurring in anaerobic environments. Methane is emitted from a variety of both human-
related and natural sources. Human-related sources include fossil fuel production, animal
husbandry (intestinal fermentation in livestock and manure management), rice cultivation,
biomass burning, and waste management. These activities release significant quantities of
CH4 to the atmosphere. Natural sources of CH4 include wetlands, gas hydrates, permafrost,
termites, oceans, freshwater bodies, non-wetland soils, and other sources such as wildfires.
The atmospheric lifetime of CH4 is about12 years.2
Nitrous Oxide (N2O)
Nitrous oxide is a clear, colorless gas with a slightly sweet odor. Nitrous oxide is produced
by both natural and human-related sources. Primary human-related sources of N2O are
agricultural soil management, animal manure management, sewage treatment, mobile and
stationary combustion of fossil fuels, adipic acid production, and nitric acid production. N2O
is also produced naturally from a wide variety of biological sources in soil and water,
particularly microbial action in wet tropical forests. The atmospheric lifetime of N2O is
approximately 120 years.3
Sources: 1 EPA 2016a, 2 EPA 2016b, 3 EPA 2016c
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Each GHG differs in its ability to absorb heat in the atmosphere based on the lifetime, or
persistence, of the gas molecule in the atmosphere. CH4 traps over 28 times more heat per
molecule than CO2, and N2O absorbs 265 times more heat per molecule than CO2 (IPCC 2014).1
Often, estimates of GHG emissions are presented in carbon dioxide equivalents (CO2e), which
weight each gas by its global warming potential. Expressing GHG emissions in CO2e takes the
contribution of all GHG emissions to the greenhouse effect and converts them to a single unit
equivalent to the effect that would occur if only CO2 were being emitted.
Table 3.6-2 shows the global warming potentials for different GHGs for a 100-year time horizon.
TABLE 3.6-2
GLOBAL WARMING POTENTIAL FOR GREENHOUSE GASES
Greenhouse Gas Global Warming Potential
Carbon Dioxide (CO2) 1
Methane (CH4) 28
Nitrous Oxide (N2O) 265
Source: IPCC 2014
Climate change is a global problem. GHGs are global pollutants, unlike criteria air pollutants
and toxic air contaminants, which are pollutants of regional and local concern. Whereas
pollutants with localized air quality effects have relatively short atmospheric lifetimes (about one
day), greenhouse gases have long atmospheric lifetimes (one to several thousand years). GHGs
persist in the atmosphere for long enough time periods to be dispersed around the globe.
Although the exact lifetime of any particular GHG molecule is dependent on multiple variables
and cannot be pinpointed, it is understood that more CO2 is emitted into the atmosphere than is
sequestered by ocean uptake, vegetation, or other forms. Of the total annual human-caused
CO2 emissions, approximately 55 percent is sequestered through ocean and land uptakes every
year, averaged over the last 50 years, whereas the remaining 45 percent of human-caused CO2
emissions remain stored in the atmosphere (IPCC 2013).
The quantity of GHGs that it takes to ultimately result in climate change is not precisely known;
suffice it to say the quantity is enormous, and no single project alone would measurably
contribute to a noticeable incremental change in the global average temperature or to global,
local, or microclimates. From the standpoint of the California Environmental Quality Act (CEQA),
GHG impacts to global climate change are inherently cumulative.
California is a significant emitter of CO2e in the world and produced 459 million gross metric tons
of CO2e in 2012. Consumption of fossil fuels in the transportation sector was the single largest
source of California’s GHG emissions in 2010, accounting for 36 percent of total GHG emissions in
the state. This category was followed by the electric power sector (including both in-state and
out-of-state sources) (21 percent) and the industrial sector (19 percent) (CARB 2014).
1 Note that these global warming potentials are from the IPCC’s 5th Assessment Report published in 2014. The GHG Inventory and Climate
Action Plan (discussed later in this document) used IPCC’s 2nd Assessment Report global warming potentials due to international GHG
inventory conventions. In the 2nd Assessment Report, CH4 traps 21 times more heat than CO2 and N2O traps 310 times more heat.
Increasingly, GHG inventories are converting to using more updated IPCC data on global warming potentials.
3.6 GREENHOUSE GAS EMISSIONS
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3.6-4
GREENHOUSE GAS EMISSION SOURCES
Emissions of GHGs contributing to global climate change are attributable in large part to human
activities associated with the transportation, industrial/manufacturing, utility, residential,
commercial, and agricultural emissions sectors. California is a significant emitter of CO2e in the
world and produced 459 million gross metric tons of CO2e in 2013. In the state, the transportation
sector is the largest emitter of GHGs, followed by industrial operations such as manufacturing
and oil and gas extraction (CARB 2015).
Emissions of CO2 are by-products of fossil fuel combustion. CH4, a highly potent GHG, primarily
results from off-gassing (the release of chemicals from nonmetallic substances under ambient or
greater pressure conditions) and is largely associated with agricultural practices and landfills.
N2O is also largely attributable to agricultural practices and soil management. Carbon dioxide
sinks, or reservoirs, include vegetation and the ocean, which absorb CO2 through sequestration
and dissolution (CO2 dissolving into the water), respectively, two of the most common processes
for removing carbon dioxide from the atmosphere.
EFFECTS OF GLOBAL CLIMATE CHANGE
California can draw on substantial scientific research conducted by experts at various
universities and research institutions. With more than a decade of concerted research, scientists
have established that the early signs of climate change are already evident in the state—as
shown, for example, in increased average temperatures, changes in temperature extremes,
reduced snowpack in the Sierra Nevada, sea level rise, and ecological shifts.
Many of these changes are accelerating locally, across the country, and around the globe. As a
result of emissions already released into the atmosphere, California will face intensifying climate
change in coming decades (CNRA 2009). Generally, research indicates that California should
expect overall hotter and drier conditions, with a continued reduction in winter snow (with
concurrent increases in winter rains), as well as increased average temperatures and
accelerating sea-level rise. In addition to changes in average temperatures, sea level, and
precipitation patterns, the intensity of extreme weather events is also changing (CNRA 2009).
Climate change temperature projections identified in the CNRA 2009 California Climate
Adaptation Strategy suggest the following:
Average temperature increase is expected to be more pronounced in the summer than
in the winter season.
Inland areas are likely to experience more pronounced warming than coastal regions.
Heat waves are expected to increase in frequency, with individual heat waves also
showing a tendency toward becoming longer and extending over a larger area, thus
more likely to encompass multiple population centers in California at the same time.
Because GHGs remain in the atmosphere for decades, temperature changes over the
next 30 to 40 years are already largely determined by past emissions. By 2050,
temperatures are projected to increase by an additional 1.8 to 5.4°F (an increase one to
three times as large as that which occurred over the entire twentieth century).
By 2100, the models project temperature increases between 3.6 and 9°F.
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3.6-5
The impacts of climate change in California have the potential to include but are not limited to
the issue areas summarized in Table 3.6-3.
Exposure to Environmental Impacts from Climate Change
Table 3.6-3 provides an overview of various environmental impacts from climate change that
could occur throughout the state. The project area lies just outside of the areas anticipated to
be impacted by sea level rise. Water supply is addressed in Section 3.11, Utilities and Service
Systems, of this Draft SEIR, which notes water conservation measures to reduce water demand
and regional efforts to improve water supply reliability. No significant environmental impacts
from climate change are expected to occur in the Community Civic Campus Project area.
TABLE 3.6-3
POTENTIAL STATEWIDE IMPACTS FROM CLIMATE CHANGE
Potential
Statewide Impact Description
Public Health
Climate change is expected to lead to an increase in ambient (i.e., outdoor) average air
temperature, with greater increases expected in summer. Larger temperature increases are
anticipated in inland communities as compared to the California coast. The potential health
impacts from sustained and significantly higher than average temperatures include heat stroke,
heat exhaustion, and the exacerbation of existing medical conditions such as cardiovascular
and respiratory diseases, diabetes, nervous system disorders, emphysema, and epilepsy.
Numerous studies have indicated that there are generally more deaths during periods of
sustained higher temperatures. The elderly, infants, and socially isolated people with pre-
existing illnesses who lack access to air conditioning or cooling spaces are among the most at
risk during heat waves (CNRA 2009).
Floods and
Droughts
The impacts of flooding may include population displacement, severe psychosocial stress with
resulting mental health impacts, exacerbation of pre-existing chronic conditions, and infectious
disease. Additionally, impacts can range from a loss of personal belongings, and the emotional
ramifications from such loss, to direct injury and/or mortality.
Drinking water contamination outbreaks in the United States are associated with extreme
precipitation events. Runoff from rainfall is also associated with coastal contamination that can
lead to contamination of shellfish and contribute to food-borne illness. Floodwaters may
contain household, industrial, and agricultural chemicals, as well as sewage and animal waste.
Flooding and heavy rainfall events can wash pathogens and chemicals from contaminated
soils, farms, and streets into drinking water supplies. Flooding may also overload storm and
wastewater systems, or flood septic systems, also leading to possible contamination of drinking
water systems.
Drought impacts develop more slowly over time. Risks to public health that Californians may
face from drought include impacts on water supply and quality, food production (both
agricultural and commercial fisheries), and risks of waterborne illness. As surface water
supplies are reduced as a result of drought conditions, the amount of groundwater pumping is
expected to increase to make up for the water shortfall. The increase in groundwater pumping
has the potential to lower the water tables and cause land subsidence. Communities that utilize
well water will be adversely affected by drops in water tables or through changes in water
quality. Groundwater supplies have higher levels of total dissolved solids compared to surface
waters. This introduces a set of effects for consumers, such as repair and maintenance costs
associated with mineral deposits in water heaters and other plumbing fixtures, and on public
water system infrastructure designed for lower salinity surface water supplies. Drought may
also lead to increased concentration of contaminants in drinking water supplies (CNRA 2009).
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Potential
Statewide Impact Description
Water Resources
The state’s water supply system already faces challenges to provide water for California’s
growing population. Climate change is expected to exacerbate these challenges through
increased temperatures and possible changes in precipitation patterns. The trends of the last
century, especially increases in hydrologic variability, will likely intensify in this century. The
state can expect to experience more frequent and larger floods and deeper droughts. Rising sea
level will threaten the Delta water conveyance system and increase salinity in near-coastal
groundwater supplies (CNRA 2009).
Forests and
Landscapes
Global climate change has the potential to intensify the current threat to forests and landscapes
by increasing the risk of wildfire and altering the distribution and character of natural
vegetation. If temperatures rise into the medium warming range, wildfire occurrence statewide
could increase from 57 to 169 percent by 2085. However, since wildfire risk is determined by
a combination of factors, including precipitation, winds, temperature, and landscape and
vegetation conditions, future risks will not be uniform throughout the state (CNRA 2009).
Sea Level Rise
The San Francisco Bay Conservation and Development Commission (BCDC) issued a report on
sea level rise that states that sea level along the West Coast rises approximately 7.9 inches per
century, or approximately 0.08 inches per year. However, the rate of sea level rise is increasing.
During the period of 1993–2003, the rate was approximately 0.12 inches per year, which could
demonstrate the result of human-induced warming on sea level. The BCDC uses the same sea
level rise estimates that are used by California Climate Action Team–funded assessments. These
estimates anticipate the sea level in the Bay Area will rise 16 inches by mid-century and 55
inches by the end of the century.
This data was used to make maps of projected flood areas but does not take into consideration
existing shoreline protections; if an area is below sea level, it is shown as vulnerable on their
maps despite any existing projections. By mid-century, approximately 180,000 acres of the Bay
Area could be flooded, and 213,000 acres could be flooded by the end of the century. A large
amount of development along the shoreline is vulnerable to flooding and erosion. Due to Bay
Area topography, 100 percent of the development located in 100-year floodplain areas will likely
flood by the year 2050. Also, different parts of the Bay Area are more vulnerable to flooding and
erosion than others. In the vulnerable areas are several large commercial and industrial
developments, including 93 percent of both the Oakland and the San Francisco airports that may
be inundated by 2100. Half of the vulnerable development is residential, and approximately
270,000 people would be at risk of flooding and problems with erosion. Approximately 4,300
acres of waterfront parks are expected to flood by 2100.
The Bay Area currently has approximately 300 miles of public access to and along the San
Francisco Bay shoreline. Eighty-seven (87) percent of that access is located in areas vulnerable
to flooding and erosion by 2100. It may be very hard to relocate or re-create access
opportunities in areas further inland. Jetties and seawalls may have to be raised and
strengthened to protect harbors that are used for shipping, recreation, and tourism. As
discussed above, by the year 2050, 100 percent of 100-year floodplain areas are expected to
be flooded, and by the year 2100 an estimated 213,000 acres of Bay Area land, much of which
is in the central Bay Area, could be impacted. South San Francisco is located in the southern
Bay Area. Parts of South San Francisco to the east of US Route 101 could be exposed to sea
level rise by 2050. A much larger region to the east of US 101 and some areas to the west
extending almost to South Spruce Street may be exposed to sea level rise by 2100. Rising sea
levels may flood Colma Creek, with rising waters expected along Canal Street and to the west.
Rising sea levels are not expected to impact the project area. Much of the developed Bay Area
shoreline will require enhanced shoreline protection, which will be developed regionally to
maximize safety and minimize impacts on sensitive bay resources, including public access,
visual resources, and soil stability. Structural shoreline protections common to the Bay Area
include seawalls, riprap revetments, and levees. These protections are reliable but expensive to
build and maintain, and often cause significant impacts to resources. Incorporating ecosystem
elements with engineering elements would provide balanced and long-term shoreline
protection (BCDC 2011).
Source: Compilation and summary from CNRA 2009 and BCDC 2011
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3.6.3 REGULATORY FRAMEWORK
STATE
The State of California has adopted various administrative initiatives and legislation relating to
climate change, much of which set aggressive goals for GHG emissions reductions statewide.
Although lead agencies must evaluate climate change and GHG emissions of projects subject
to CEQA, the CEQA Guidelines do not require or suggest specific methodologies for performing
an assessment or specific thresholds of significance and do not specify GHG reduction
mitigation measures. Instead, the guidelines allow lead agencies to choose methodologies and
make significance determinations based on substantial evidence, as discussed in further detail
below. No state agency has promulgated binding regulations for analyzing GHG emissions,
determining their significance, or mitigating significant effects in CEQA documents. Thus, lead
agencies exercise their discretion in determining how to analyze GHGs.
California Global Warming Solutions Act (Assembly Bill 32)
The primary act that has driven GHG regulation and analysis in California is the California Global
Warming Solutions Act of 2006 (Assembly Bill [AB] 32) (Health and Safety Code Sections 38500,
38501, 28510, 38530, 38550, 38560, 38561–38565, 38570, 38571, 38574, 38580, 38590, 38592–38599),
which instructs the California Air Resources Board (CARB) to develop and enforce regulations for
the reporting and verifying of statewide GHG emissions. The act directed CARB to set a
greenhouse gas emissions limit based on 1990 levels, to be achieved by 2020. The bill set a
timeline for adopting a scoping plan for achieving GHG reductions in a technologically and
economically feasible manner. The heart of the bill is the requirement that statewide GHG
emissions be reduced to 1990 levels by 2020.
AB 32 Scoping Plan
CARB adopted the Scoping Plan to achieve the goals of AB 32. The Scoping Plan establishes an
overall framework for the measures that will be adopted to reduce California’s GHG emissions.
CARB determined that achieving the 1990 emissions level would require a reduction of GHG
emissions of approximately 29 percent below what would otherwise occur in 2020 in the
absence of new laws and regulations (referred to as “business as usual”). The Scoping Plan
evaluates opportunities for sector-specific reductions, integrates early actions by CARB and the
state’s Climate Action Team and additional GHG reduction measures by both entities, identifies
additional measures to be pursued as regulations, and outlines the adopted role of a cap-and-
trade program.2 Additional development of these measures and adoption of the appropriate
regulations occurred through the end of year 2013. Key elements of the Scoping Plan include:
Expanding and strengthening existing energy efficiency programs, as well as building
and appliance standards.
Achieving a statewide renewables energy mix of 33 percent by 2020.
2 The Climate Action Team, led by the secretary of the California Environmental Protection Agency, is a group of state
agency secretaries and heads of agencies, boards, and departments. Team members work to coordinate statewide
efforts to implement global warming emissions reduction programs and the state’s Climate Adaptation Strategy.
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Developing a California cap-and-trade program that links with other programs to create
a regional market system and caps sources contributing 85 percent of California’s GHG
emissions.
Establishing targets for transportation-related GHG emissions for regions throughout
California, and pursuing policies and incentives to achieve those targets.
Adopting and implementing measures pursuant to existing state laws and policies,
including California’s clean car standards, heavy-duty truck measures, and the Low
Carbon Fuel Standard.
Creating targeted fees, including a public goods charge on water use, fees on high
global warming potential gases, and a fee to fund the administrative costs of the state of
California’s long-term commitment to AB 32 implementation. (CARB 2008)
In 2012, CARB released revised estimates of the expected 2020 emissions reductions. The revised
analysis relied on emissions projections updated in light of current economic forecasts that
accounted for the economic downturn since 2008, reduction measures already approved and
put in place relating to future fuel and energy demand, and other factors. This update reduced
the projected 2020 emissions from 596 million metric tons of CO2e to 545 million metric tons of
CO2e. The reduction in projected 2020 emissions means that the revised business-as-usual
reduction necessary to achieve AB 32’s goal of reaching 1990 levels by 2020 is now 21.7 percent,
down from 29 percent. CARB also provided a lower 2020 inventory forecast that incorporated
state-led GHG emissions reduction measures already in place. When this lower forecast is
considered, the necessary reduction from business-as-usual needed to achieve the goals of
AB 32 is approximately 16 percent.
AB 32 requires CARB to update the Scoping Plan at least once every five years. CARB adopted the
first major update to the Scoping Plan on May 22, 2014. The updated Scoping Plan summarizes the
most recent science related to climate change, including anticipated impacts to California and
the levels of GHG emissions reductions necessary to likely avoid risking irreparable damage. It
identifies the actions California has already taken to reduce GHG emissions and focuses on areas
where further reductions could be achieved to help meet the 2020 target established by AB 32.
The Scoping Plan update also looks beyond 2020 toward the 2050 goal established in Executive
Order S-3-05, though not yet adopted as state law, and observes that “a mid-term statewide
emission limit will ensure that the State stays on course to meet our long-term goal.” The Scoping
Plan update does not establish or propose any specific post-2020 goals, but it identifies such goals
adopted by other governments or recommended by various scientific and policy organizations.
Executive Order B-30-15 (signed April 29, 2015) endorses the effort to set interim GHG reduction
targets for year 2030 (40 percent below 1990 levels).
Amendments to California Global Warming Solutions Act of 2006: Emission Limit (Senate Bill 32)
Signed into law in September 2016, Senate Bill (SB) 32 codifies the 2030 target in Executive Order
B-30-15. The bill authorizes the state board to adopt an interim GHG emissions level target to be
achieved by 2030. SB 32 states that the intent is for the legislature and appropriate agencies to
adopt complementary policies which ensure that the long-term emissions reductions advance
specified criteria. CARB is tasked with updating the Scoping Plan to provide guidance for
compliance with SB 32. The next updated Scoping Plan is expected to be adopted in 2017.
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Table 3.6-4 provides a brief overview of other California legislation relating to climate change
that may affect emissions associated with the proposed project.
TABLE 3.6-4
CALIFORNIA STATE CLIMATE CHANGE LEGISLATION
Legislation Description
Assembly Bill 1493
and Advanced
Clean Cars Program
Assembly Bill 1493 (“the Pavley Standard”) (Health and Safety Code Sections 42823 and
43018.5) aims to reduce GHG emissions from noncommercial passenger vehicles and light-duty
trucks of model years 2009–2016. By 2025, when all rules will be fully implemented, new
automobiles will emit 34 percent fewer CO2e emissions and 75 percent fewer smog-forming
emissions.
Low Carbon Fuel
Standard
Executive Order S-01-07 (2007) requires a 10 percent or greater reduction in the average fuel
carbon intensity for transportation fuels in California. The regulation took effect in 2010 and is
codified at Title 17, California Code of Regulations, Sections 95480–95490. The Low Carbon
Fuel Standard (LCFS) will reduce GHG emissions by reducing the carbon intensity of
transportation fuels used in California by at least 10 percent by 2020.
Renewables
Portfolio Standard
(Senate Bill X1-2 &
Senate Bill 350)
California’s Renewables Portfolio Standard (RPS) requires retail sellers of electric services to
increase procurement from eligible renewable energy resources to 33 percent of total retail sales
by 2020. The 33 percent standard is consistent with the RPS goal established in the Scoping
Plan. The passage of Senate Bill 350 in 2015 updates the RPS to require the amount of
electricity generated and sold to retail customers per year from eligible renewable energy
resources to be increased to 50 percent by December 31, 2030. The bill will make other
revisions to the RPS program and to certain other requirements on public utilities and publicly
owned electric utilities.
Senate Bill 375*
SB 375 took effect in 2008 and provides a new planning process to coordinate land use
planning, regional transportation plans, and funding priorities to help California meet the GHG
reduction goals established in AB 32. SB 375 requires metropolitan planning organizations to
incorporate a sustainable communities strategy in their regional transportation plans that will
achieve GHG emissions reduction targets by reducing vehicle miles traveled from light-duty
vehicles through the development of more compact, complete, and efficient communities.
California Building
Energy Efficiency
Standards
In general, the California Building Energy Efficiency Standards require the design of building
shells and building components to conserve energy. The California Energy Commission adopted
changes to the 2013 Building Energy Efficiency Standards contained in the California Code of
Regulations, Title 24, Part 6 (also known as the California Energy Code) and associated
administrative regulations in Part 1. The amended standards took effect in the summer of 2014.
The 2013 Building Energy Efficiency Standards are 25 percent more efficient than previous
standards for residential construction and 30 percent better for nonresidential construction. The
standards offer builders better windows, insulation, lighting, ventilation systems, and other
features that reduce energy consumption in homes and businesses. Energy-efficient buildings
require less electricity, and increased energy efficiency reduces fossil fuel consumption and
decreases GHG emissions.
California Green
Building Standards
The California Green Building Standards Code (California Code of Regulations, Title 24, Part
11), commonly referred to as the CALGreen Code, is a statewide mandatory construction code
developed and adopted by the California Building Standards Commission and the Department
of Housing and Community Development. The CALGreen standards require new residential and
commercial buildings to comply with mandatory measures under the topics of planning and
design, energy efficiency, water efficiency/conservation, material conservation and resource
efficiency, and environmental quality. CALGreen also provides voluntary tiers and measures that
local governments may adopt that encourage or require additional measures in the five green
building topics. The most recent update to the CALGreen Code went into effect January 1, 2017.
* Senate Bill 375 is codified at Government Code Sections 65080, 65400, 65583, 65584.01, 65584.02, 65584.04, 65587, 65588,
14522.1, 14522.2, and 65080.01, as well as at Public Resources Code Sections 21061.3 and 21159.28 and Chapter 4.2.
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REGIONAL
Bay Area Air Quality Management District
The Bay Area Air Quality Management District’s (BAAQMD) (2011) CEQA Air Quality Guidelines
were developed to assist lead agencies in evaluating air quality impacts for projects and plans
in the San Francisco Bay Area Air Basin. The guidelines were updated in 2010 to include
guidance on assessing GHG and climate change impacts as required under CEQA Section
15183.5(b) and to establish thresholds of significance for impacts related to GHG emissions.
These thresholds can be used to assess plan-level and project-level impacts.
Association of Bay Area Governments Plan Bay Area 2013–2040
The Association of Bay Area Governments’ (ABAG) (2013) Plan Bay Area is the Regional
Transportation Plan (RTP) and Sustainable Communities Strategy (SCS) for the San Francisco Bay
Area. ABAG was tasked by CARB to achieve a 7 percent per capita reduction in mobile-source
GHG emissions compared to 2005 vehicle emissions by 2020 and a 15 percent per capita
reduction by 2035. Plan Bay Area 2013–2040 establishes an overall mechanism to achieve these
GHG targets for the project region consistent with both the target date of AB 32 (2020) and the
post-2020 GHG reduction goals of SB 32. CARB (2014) confirmed that the project region will
achieve its GHG reduction targets by implementing Plan Bay Area.
LOCAL
City of South San Francisco Climate Action Plan
The South San Francisco Climate Action Plan (CAP) is a strategic planning document that
identifies sources of GHG emissions from within the city’s boundary and reduces emissions
through energy use, transportation, land use, water use, and solid waste strategies (referred to as
reduction measures in the CAP). The CAP includes goals, policies, and programs to reduce GHG
emissions, adapt to climate change, and support the goals of AB 32 and SB 375. Provisions of the
City’s CAP include the following:
Continue to enforce the City’s Transportation Demand Management (TDM) program to
require employers to demonstrate achieved mode share and to continually adjust their
programs to meet the requisite goals. (Action 1.2.3)
Implement Priority Development Areas and Station Area Plans, including the El Camino
Real Master Plan, including the General Plan and Zoning Code amendments adopted
by the City in 2010 and 2011, respectively. (Action 1.3.1)
Require new large-scale nonresidential developments to provide a conduit for future
electric vehicle charging installations, and encourage the installation of conduits or
electric vehicle charging stations for all new development. (Action 2.1.5)
Model the use of electric and energy-efficient equipment in City operations. (Action
2.2.4)
Continue to require tree planting in new development in accordance with Chapter
13.30 of the Zoning Code, and encourage tree placement to maximize building shading.
(Action 3.4.2)
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Continue to enforce the existing construction and demolition ordinance, required 100%
of inert waste and 65% of non-inert waste to be recycled from all eligible projects.
(Action 5.1.2)
Continue to support implementation of the Urban Water Management Plan to reduce
potable water by at least 20%. (Action 6.1.1)
Revitalize implementation and enforcement of the Water Landscape Ordinance by
undertaking the following:
Establishing a variable-speed pump exchange for water features.
Limiting turf area in commercial and large multi-family projects.
Restricting hours of irrigation to occur between 3:00 a.m. and two hours after sunrise.
Installing irrigation controllers with rain sensors.
Landscaping with native, water-efficient plants.
Installing drip irrigation systems.
Reducing impervious surfaces. (Action 6.1.2)
Work with water providers to support the installation of smart water meters on all
accounts in the city. (Action 6.1.3)
Where possible, remove turf from municipal facilities. (Action 7.2.2)
Conduct training of staff for the use and installation of water-saving irrigation technology
and auditing. (Action 7.2.4)
City of South San Francisco General Plan
The General Plan Land Use, Planning Sub-Areas, Transportation, and Open Space and
Conservation Elements contain the following policies that are relevant to the analysis of
greenhouse gas impacts:
Chapter 2: Land Use
2-I-4 Require all new developments seeking an FAR bonus to achieve a progressively
higher alternative mode usage. The requirements of the TDM program are
detailed in the Zoning Ordinance.
2-I-6 Undertake a comprehensive review of the parking standards and establish
criteria for reduced parking for mixed-use developments, for development that
meets specified TDM criteria, and Medium- and High-Density Residential
development.
2-I-13 As part of development review in environmentally sensitive areas, require specific
environmental studies and/or review as stipulated in Section 7.1: Habitat and
Biological Resources Conservation.
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2-I-15 As part of the General Plan Annual Report, monitor the rate and density/intensity
of residential, commercial, and industrial development, and site availability for
future development.
Chapter 3: Planning Sub-Areas
3.4-1-1 Work with Caltrans and other agencies to implement the El Camino Real
Landscape Conceptual Master Plan for the entire stretch of El Camino Real
through South San Francisco.
3.4-1-2 Prepare and implement an El Camino Real overlay district in the City’s Zoning
Ordinance that provides development standards that further El Camino’s
development as a mixed-use use boulevard, accommodating the need for both
auto-oriented uses as well as designated pedestrian-oriented centers.
3.4-1-6 Prepare a focused plan for public improvements to the BART station that includes:
Streets and other infrastructure improvements; and
Sidewalk design and construction within a 1/2-mile of the BART station to
integrate the station with the surroundings.
3.4-1-8 Require any new development/redevelopment within 1/2-mile of the BART station
at a density of no less than 30 units per net acre for residential uses, or a FAR of 1.5
for non-residential uses, or an appropriate combination of the two. Maintain
higher intensities where specified otherwise in the General Plan.
3.4-1-13 Develop the El Camino Real/Chestnut Area in accordance with the vision
established for the area by the El Camino Real/Chestnut Avenue Area Plan.
3.4-1-14 Maintain the El Camino Real/Chestnut Avenue Area Plan as the detailed
implementing guide for the area. The El Camino Real/Chestnut Avenue Area Plan
provides principles and policies that lay the framework for development within
the area. The Area Plan provides an overall vision for the area in terms of land
use, urban design and circulation, and emphasizes the creation of a vibrant and
viable activity center in South San Francisco. The Area Plan also includes Design
Standards and Guidelines to guide design review of projects.
Chapter 4: Transportation
4.2-I-11 Implement, to the extent feasible, circulation system improvements.
4.3-I-1 Prepare and adopt a Bikeways Master Plan that includes goals and objectives, a
list or map of improvements, a signage program, detailed standards, and an
implementation program. Once adopted, the Bicycle Master Plan shall be the
guiding policy document regarding bicycling matters that are within the scope of
the adopted Bicycle Master Plan.
4.3-I-5 Prepare, adopt, and maintain a PMP as a long-term vision for supporting and
improving pedestrian access in South San Francisco, including goals, policies, and
strategic near-term implementation measures that encourage pedestrian activity
and prioritizes pedestrian improvements for funding.
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4.3-I-9 Promote pedestrian safety and access through education, collaboration with
C/CAG, and regular public awareness efforts that advocate walking.
4.3-I-12 Use the El Camino Real/Chestnut Avenue Area Plan to identify, schedule, and
implement pedestrian improvements for the El Camino Real/Chestnut Area.
4.3-I-15 Adopt a TDM program or ordinance which includes, but is not limited to, the
following components:
Methodology to determine eligibility for land use intensity bonuses for TDM
programs identified in the Land Use Element.
Procedures to ensure continued maintenance of measures that result in
intensity bonuses.
Requirements for off site improvements (such as bus shelters and pedestrian
connections) that are directly necessary as a result of development.
Establishment of baseline TDM requirements for all new projects generating
more than 100 peak period trips.
Establishment of additional requirements for all new projects seeking a FAR
bonus.
An ongoing monitoring and enforcement program to ensure TDM measures
are actually implemented.
Reduce parking requirements for new projects implementing a TDM Program
in proximity to fixed guide way transit or those with demonstrated measures
that would reduce trip generation.
4.3-I-16 Favor Transportation Systems Management programs that limit vehicle use over
those that extend the commute hour.
4.3-I-18 Establish parking standards to support trip reduction goals by:
Allowing parking reductions for projects that have agreed to implement trip
reduction methods, such as paid parking, and for mixed use development.
Requiring projects larger than 25 employees to provide preferential parking
for carpools and vanpools.
4.3-I-19 Amend the Zoning Ordinance to reduce minimum parking requirements for
projects proximate to transit stations and for projects implementing a TDM
program.
4.3-I-20 Investigate opportunities for shared parking facilities whenever possible to reduce
the number of new parking stalls required.
4.4-I-1 Develop a Downtown multi-modal transit center southeast of the Grand Avenue/
Airport Boulevard intersection, with a relocated Caltrain Station as its hub.
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4.4-I-3 Explore the feasibility a shuttle system between the Downtown/multimodal station
and South San Francisco and San Bruno stations. Explore mechanisms to provide
the shuttle service free to riders.
Chapter 7: Open Space and Conservation
7.3-I-2 Use the City’s development review process and the California Environmental
Quality Act (CEQA) regulations to evaluate and mitigate the local and
cumulative effects of new development on air quality and GHG emissions.
7.3-I-5 In cooperation with local conservation groups, institute an active urban forest
management program that consists of planting new trees and maintaining
existing ones.
7.3-I-6 Periodically update the inventory of community-wide GHG emissions and
evaluate appropriate GHG emissions reduction targets, consistent with current
State objectives, statewide guidance, and regulations.
7.3-I-7 Adopt and implement the City of South San Francisco’s CAP, which will identify a
GHG emissions reduction target and measures and actions to achieve the
reduction target.
7.3-I-8 Evaluate and regularly report to City Council, or its designee, on the
implementation status of the CAP and update the CAP as necessary should the
City find that adopted strategies are not achieving anticipated reductions, or to
otherwise incorporate new opportunities.
7.3-I-9 Promote land uses that facilitate alternative transit use, including high-density
housing, mixed uses, and affordable housing served by alternative transit
infrastructure.
7.3-I-10 Facilitate energy efficiency in building regulations and streamlined review
processes, providing flexibility to achieve specified energy performance levels
and requiring energy efficiency measures as appropriate.
7.3-I-11 Coordinate with the business community to encourage energy efficiency in the
City’s largest energy users while supporting economic growth objectives.
7.3-I-12 Adopt guidelines, standards, and flexible regulations that promote on-site
renewable energy systems while strengthening South San Francisco’s economic
competitiveness.
7.3-I-13 Encourage efficient, clean energy and fuel use through collaborative programs,
award programs, and incentives, while removing barriers to the expansion of
alternative fuel facilities and infrastructure.
7.3-I-14 Ensure that design guidelines and standards support operation of alternative fuel
facilities, vehicles, and equipment.
7.3-I-15 Demonstrate effective operations in municipal facilities that reduce GHG
emissions.
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3.6.4 IMPACTS AND MITIGATION MEASURES
STANDARDS OF SIGNIFICANCE
The impact analysis provided below is based on the application of the CEQA Guidelines
Appendix G thresholds of significance. A project is considered to have significant impacts if
implementation of the project would:
1) Generate greenhouse gas emissions, either directly or indirectly, that may have a
significant impact on the environment.
2) Conflict with an applicable plan, policy, or regulation adopted for the purpose of
reducing the emissions of greenhouse gases.
The assessment of GHG emissions below is based on guidance from the Bay Area Air Quality
Management District. On June 2, 2010, the BAAQMD adopted guidance on assessing
greenhouse gases and climate change impacts as required under CEQA Section 15183.5(b), as
well as new CEQA significance thresholds including the thresholds for GHGs of 1,100 metric tons
of CO2e per year; or 4.6 metric tons of CO2e per service population per year; or evidence of
compliance with a Qualified GHG Reduction Strategy for evaluating operation-related emissions
(BAAQMD 2011). These thresholds were developed based on overall projections of development
in the region and how the region would come into compliance with the goals established by AB
32.
On March 5, 2012, the Alameda County Superior Court issued a judgment finding that the
BAAQMD had failed to comply with CEQA when it adopted these thresholds. The court did not
determine whether the thresholds were valid on the merits, but rather found that the adoption of
the thresholds was a project under CEQA. The court issued a writ of mandate ordering the
BAAQMD to set aside the thresholds and cease their dissemination until the BAAQMD had
complied with CEQA. On August 13, 2013, the Court of Appeals reversed the Superior Court’s
decision, finding that the BAAQMD’s thresholds were not a “project” under CEQA and, as such,
did not require CEQA review. Although the Alameda County Superior Court has ordered the
BAAQMD to cease dissemination of the previously adopted thresholds, the court has made no
finding on the applicability or the merits of the quantitative threshold. BAAQMD states that lead
agencies will need to determine appropriate air quality thresholds to use for each project they
review based on substantial evidence that they should include in the administrative record for
the project. One resource BAAQMD provides as a reference for determining appropriate
thresholds is the CEQA Thresholds Options and Justification Report developed by staff in 2009
(BAAQMD 2009). The report outlines substantial evidence supporting a variety of thresholds of
significance.
On November 26, 2013, the California Supreme Court by unanimous vote granted review to
address the legal issue of whether CEQA review is confined to an analysis of a proposed
project’s impacts on the existing environment or also requires analysis of the existing
environment’s impacts on the proposed project and its future occupants and users. On
December 17, 2015, the State Supreme Court concluded that agencies subject to CEQA
generally are not required to analyze the impact of existing environmental conditions on a
project’s future users or residents. But when a proposed project risks exacerbating those
environmental hazards or conditions that already exist, an agency must analyze the potential
impact of such hazards on future residents or users. In those specific instances, it is the project’s
impact on the environment—and not the environment’s impact on the project. The decision
vindicated the air district’s CEQA stance to a considerable degree in that it reduced the focus
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of the lawsuit to the issue of thresholds surrounding the siting of sensitive receptors. Furthermore,
the decision did not invalidate such thresholds, but simply noted that it is not appropriate to
apply them to every proposed project routinely.
The BAAQMD has yet to announce a recommendation to use its 2010 thresholds in light of these
court decisions. Nevertheless, in the meantime, jurisdictions may exercise their discretion and
utilize said thresholds based on a determination that they are supported by substantial
evidence. Based on a review of the BAAQMD’s (2009) CEQA Thresholds Options and Justification
Report, the City has determined, in its discretion, that the guidelines are based on substantial
evidence to “attribute an appropriate share of greenhouse gas emission reductions necessary
to reach AB 32 goals to new land use development projects in the BAAQMD’s jurisdiction that
are evaluated pursuant to CEQA” (BAAQMD 2011). Therefore, the City is using the BAAQMD
CEQA Guidelines to determine the level of impact from the project’s contribution of GHG
emissions.
The BAAQMD does not have an adopted threshold of significance for construction-related GHG
emissions; however, the air district recommends the quantification and disclosure of
construction-generated GHG emissions.
The BAAQMD project-level operational threshold of significance for GHG emissions is the project
generation of 1,100 metric tons of CO2e per year during operations (bright-line numeric
threshold); or the project generation of 4.6 metric tons of CO2e per service population per year
during operations (efficiency-based threshold); or compliance with a Qualified GHG Reduction
Strategy. For the purposes of this assessment, the proposed project’s service population (project
employees and patrons) is identified in order to present the project’s service population
efficiency in comparison to the BAAQMD efficiency-based threshold of 4.6 metric tons of CO2e
per service population per year.
As previously described, statewide goals for GHG reductions in the years beyond 2020 have
been recently codified into state law with the passage of SB 32. SB 32 codifies the 2030 target in
Executive Order B-30-15 (40 percent below 1990 levels by 2030). The bill authorizes the state
board to adopt an interim GHG emissions level target to be achieved by 2030. SB 32 states that
the intent is for the Legislature and appropriate agencies to adopt complementary policies
which ensure that the long-term emissions reductions advance specified criteria. However, at
the time of writing this document, no specific policies or emissions reduction mechanisms have
been established. Therefore, while project design can contribute to reducing potential GHG
emissions from the proposed project, achievement of future GHG efficiency standards is also
dependent on regulatory controls applied to all sectors of the California economy. Thus, the
ability of this project—and all land use development—to achieve GHG reduction goals beyond
2020 is partially out of the control of the project and its proponents.
Given the recent legislative attention and judicial action regarding post-2020 goals and the
scientific evidence that additional GHG reductions are needed beyond the year 2020 to
stabilize CO2 concentrations, the Association of Environmental Professionals’ (AEP) Climate
Change Committee (2016) recommended in its Beyond 2020: The Challenges of Greenhouse
Gas Reduction Planning by Local Governments in California (Beyond 2020) white paper that
CEQA analyses for most land use development projects can continue to rely on current
thresholds for the immediate future, but that long-term projects should consider “post‐2020
emissions consistent with ‘substantial progress’ along a post‐2020 reduction trajectory.” The
Beyond 2020 white paper further recommends that the “significance determination…should be
based on consistency with ‘substantial progress’ along a post‐2020 trajectory.” Accordingly,
project-related impacts in 2030 are considered in this analysis.
3.6 GREENHOUSE GAS EMISSIONS
City of South San Francisco Community Civic Campus Project
July 2016 Draft SEIR
3.6-17
The project is compared to the City’s Climate Action Plan and ABAG’s Plan Bay Area (the
RTP/SCS for the San Francisco Bay Area), which establishes an overall greenhouse gas reduction
target for the project region consistent with both the target date of AB 32 (2020) and the post-
2020 GHG reduction goals of SB 32.
Changes in the CEQA Guidelines
The ECR/C EIR used the following guidelines from criteria presented in the CEQA Guidelines
(including the 2010 amendments) and the BAAQMD 2010 CEQA Guidelines to determine the
thresholds of significance:
3) Generate greenhouse gas emissions, either directly or indirectly, in excess of 4.6 metric
tons of CO2e per year per service population; or
4) Conflict with an applicable plan, policy, or regulation adopted for the purpose of
reducing the emissions of greenhouse gases.
The BAAQMD project-level operational threshold of significance for GHG emissions is the project
generation of 1,100 metric tons of CO2e per year during operations (bright-line numeric threshold);
or the project generation of 4.6 metric tons of CO2e per service population per year during
operations (efficiency-based threshold); or compliance with a Qualified GHG Reduction Strategy.
Therefore, the addition of the threshold of 1,100 metric tons of CO2e is a change in the guidelines.
METHODOLOGY
GHG and climate change-related impacts were assessed in accordance with methodologies
recommended by the BAAQMD, based on the development potential assumptions provided by
the project applicant. Criteria air pollutant emissions were modeled using the California Emissions
Estimator Model (CalEEMod) (see Appendix AIR). CalEEMod is a statewide land use emissions
computer model designed to quantify potential criteria pollutant emissions from a variety of land
use projects.
IMPACTS AND MITIGATION MEASURES
Generation of Greenhouse Gas Emissions (Standard of Significance 1)
Impact 3.6.1 The project would not exceed the BAAQMD’s service population efficiency
threshold. This impact would be less than significant.
2011 ECR/C Area Plan Impacts
Implementation of the ECR/C Area Plan would increase commercial development in the
planning area and could result in increased GHG emissions, which would contribute to global
climate change. Global climate change is a significant cumulative impact, caused by the
cumulative GHG emissions from human activities. For the purposes of the ECR/C EIR, the analysis
made the determination of whether the plan would make a cumulatively considerable
contribution to the overall cumulative impact of global climate change. Future emissions were
estimated to increase 6,515 metric tons of CO2e in 2020 and 6,769 metric tons of CO2e in 2035
under a business-as-usual scenario. Per capita emissions are projected to increase to 2020 and
then again slightly increase to 2035. These projections are without any reductions due to state
policy. State mandates and local programs will significantly reduce GHG emissions by 2020.
These include California’s Renewables Portfolio Standard and Low Carbon Fuel Standard,
3.6 GREENHOUSE GAS EMISSIONS
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.6-18
AB 1492 reducing GHG emissions from new motor vehicles, and the BAAQMD CEQA Air Quality
Guidelines. With emissions reductions under these laws and guidelines, the project would result in
2035 emissions levels that are slightly higher than baseline levels without the project, but
emissions per service population are lower than the BAAQMD thresholds baseline rate under the
plan. Due to these emissions reductions, emissions in 2020 and 2035 would not exceed existing
levels. Per service population emissions would not exceed 4.6 metric tons of CO2e. Therefore, the
project would not make a considerable contribution to the impact.
Subsequent Project Impacts
Contribution of Greenhouse Gas Emissions
The project’s GHG emissions would be generated over the short term from construction
activities, consisting primarily of emissions from equipment exhaust. There would also be long-
term regional emissions associated with new vehicular trips and indirect source emissions, such
as electricity usage for lighting.
Construction GHG Emissions
The approximate quantity of annual GHG emissions generated by construction equipment is
shown in Table 3.6-5.
TABLE 3.6-5
CONSTRUCTION-RELATED GREENHOUSE GAS EMISSIONS (METRIC TONS PER YEAR)
Year of Construction Activities CO2e
2017 556
2018 870
2019 450
Total 1,876
Source: CalEEMod version 2016.3.1. See Appendix AIR for emission model outputs.
As shown, construction would generate approximately 1,876 metric tons of CO2e. Once
construction is complete, generation of GHG emissions associated with construction would cease.
Operational GHG Emissions
The project’s long-term operational emissions are summarized in Table 3.6-6.
TABLE 3.6-6
OPERATIONS-RELATED GREENHOUSE GAS EMISSIONS (METRIC TONS PER YEAR)
Emissions Source CO2e
Area Source (landscaping, hearth) 0
Energy 933
Mobile 4,174
Waste 288
Water 102
Total 5,497
Source: CalEEMod version 2016.3.1. See Appendix AIR for emission model outputs.
3.6 GREENHOUSE GAS EMISSIONS
City of South San Francisco Community Civic Campus Project
July 2016 Draft SEIR
3.6-19
As shown in Table 3.6-6, project operations would generate approximately 5,497 metric tons of
CO2e annually.
The proposed project’s service population (project employees and patrons) is identified to
present the project’s service population efficiency in comparison to the BAAQMD efficiency-
based threshold of 4.6 metric tons of CO2e per service population per year. To estimate the
number of people who will visit the site, the number of potential project-related daily vehicle
trips is divided by two to account for each service population member making one trip to and
one trip from the site; therefore, each project customer and vendor would count for two trips.
This is a conservative assumption since each vehicle is assumed to accommodate only one
person, whereas many of the vehicles would accommodate more than one person. The
proposed project would generate approximately 5,571 trips per day (see Appendix TRA).3 The
number of trips per day is divided by two (2,786) to derive the service population.
As shown in Table 3.6-7, dividing the project GHG emissions yields a metric ton per service
population ratio of 1.97. This ratio of 1.97 metric tons of CO2e per service population annually is
below the BAAQMD efficiency-based threshold of 4.6. Therefore, the revised project would
continue to have a less than significant impact.
TABLE 3.6-7
PROJECT GHG EMISSIONS PER SERVICE POPULATION
Per Capita Emissions Emissions Service
Population MTCO2e/SP/Year Threshold Exceed
Threshold?
Proposed Project 5,497 2,786 1.97 4.6 No
Mitigation Measures
None required.
Conflict with an Applicable Plan, Policy, or Regulation Adopted for the Purpose of Reducing the
Emissions of Greenhouse Gases (Standard of Significance 2)
Impact 3.6.2 The project would not conflict with an applicable plan adopted for the
purpose of reducing GHG emissions for the year 2020. This impact would be
less than cumulatively considerable.
ECR/C Area Plan EIR Impacts
The City did not have an adopted policy or plan regarding the reduction of GHG emissions in
2011. The City had undertaken a community-wide GHG inventory and was developing a climate
action plan. The ECR/C Area Plan and the City’s General Plan policies conform to the control
strategies in the Bay Area 2010 Clean Air Plan. Therefore the project would have a less than
significant impact (South San Francisco 2011b, p. 3.3-43).
3 Note: The TIA states the ECR/C plan area would add 9,962 additional trips. However, the project only encompasses
blocks D and E (-340 trips), blocks F and G (4,856 trips), and the outside focus area (1,055 trips) for a total of 5,571 trips.
Therefore, the GHG analysis used 5,571 trips in its calculations.
3.6 GREENHOUSE GAS EMISSIONS
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.6-20
Subsequent Project Impacts
Compliance with South San Francisco Climate Action Plan
Climate Action Plan policies are intended to achieve transit-oriented and mixed land use
development throughout South San Francisco, with an abundance of opportunity for alternative
modes of transportation.
The CAP contains separate policy provisions addressing the increase of pedestrian, bicycle, and
private shuttle systems. Consistent with the CAP, the Area Plan is a transit-oriented development
in support of the South San Francisco BART station. The General Plan includes strategies to
establish a transit-supportive environment by improving connections between the station and
adjacent destinations, densifying and intensifying land uses at key locations within the plan area,
and enhancing the physical design of the urban environment. The ECR/C Area Plan would
provide moderate- to high-density housing in locations within convenient walking distance of
employment centers, shopping centers, and transit routes. As such, the plan would result in
improved access to local and regional transit services, as well as promote alternative means of
transportation through increased access to pedestrian and bicycle facilities.
Furthermore, as listed above, the South San Francisco CAP contains environmental sustainability-
related policy provisions in the categories of land use and mixed-use development, open space,
efficient and alternative transportation, transportation demand management, and parking that
promotes transit. The Community Civic Campus Project promotes a similar commitment to
sustainability as contained in the City’s Climate Action Plan. A diversity of transportation options
reduces dependence on a single mode of transportation and provides feasible long-term
alternatives in response to fuel shortages, climate change, and other unforeseen challenges.
The Community Civic Campus Project has been developed with the objective of environmental
sustainability, as its focus is to enhance utilization of an existing commuter rail line. Compliance
with the City’s CAP will greatly reduce the regional GHG emissions.
Compliance with Association of Bay Area Governments Plan Bay Area 2013–2040
ABAG’s Plan Bay Area is the RTP/SCS for the San Francisco Bay Area. Plan Bay Area establishes
GHG emissions goals for automobiles and light-duty trucks, a potent source of GHG emissions
attributable to land use development. As previously described, the California Air Resources
Board tasked ABAG with achieving a 7 percent per capita reduction in mobile-source GHG
emissions compared to 2005 vehicle emissions by 2020 and a 15 percent per capita reduction
by 2035. Plan Bay Area 2013–2040 establishes an overall mechanism to achieve these GHG
targets for the project region consistent with both the target date of AB 32 (2020) and the post-
2020 GHG reduction goals of SB 32. CARB (2014) confirmed that the project region will achieve
its GHG reduction targets by implementing Plan Bay Area. The plan contains thousands of
individual transportation projects, including highway improvements, railway electrification,
bicycle lanes, new transit hubs, and replacement bridges. These future investments seek to
reduce traffic bottlenecks, improve the efficiency of the region’s transportation network, and
expand mobility choices. The RTP/SCS is an important planning document for the region,
allowing project sponsors to qualify for federal funding. In addition, Plan Bay Area is supported
by a combination of transportation and land use strategies that help the region achieve state
GHG emissions reduction goals and federal Clean Air Act requirements, preserve open space
areas, improve public health and roadway safety, support the vital goods movement industry,
and use resources more efficiently.
3.6 GREENHOUSE GAS EMISSIONS
City of South San Francisco Community Civic Campus Project
July 2016 Draft SEIR
3.6-21
Since the project site is an Urbanized Area in the RTP/SCS planning period as opposed to a
Priority Conservation Area, and is surrounded by lands identified as Urbanized Area, it is included
in an area where urban development is predicted by ABAG (2013, Map 1). The proposed
project would maximize mobility and accessibility because of its close proximity to the South San
Francisco BART station (approximately 0.5 mile away) and the El Camino and Arroyo Drive
SamTrans stop (approximately 0.1 mile away).
For these reasons, the project would be consistent with Plan Bay Area, and it can be assumed
that regional mobile emissions will decrease in line with the goals of Plan Bay Area with
implementation of the proposed project. Implementing Plan Bay Area will greatly reduce the
regional GHG emissions from transportation, and the proposed project would not obstruct the
achievement of the plan’s emissions reduction targets. Therefore, the revised project’s impact
would continue to be less than cumulatively considerable.
Mitigation Measures
None required.
3.6 GREENHOUSE GAS EMISSIONS
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.6-22
3.6.5 REFERENCES
ABAG (Association of Bay Area Governments). 2013. Plan Bay Area, Regional Transportation Plan
and Sustainable Communities Strategy for the San Francisco Bay Area 2013–2040.
AEP (Association of Environmental Professionals). 2016. Beyond 2020 and Newhall: A Field Guide
to New CEQA Greenhouse Gas Thresholds and Climate Action Plan Targets for California.
BAAQMD (Bay Area Air Quality Management District). 2009. CEQA Thresholds Options and
Justification Report.
———. 2011. CEQA Air Quality Guidelines.
BCDC (Bay Conservation and Development Commission). 2011. Staff Report – Living with a Rising
Bay: Vulnerability and Adaptation in San Francisco Bay and on its Shoreline.
CARB (California Air Resources Board). 2008. Climate Change Scoping Plan Appendices
(Appendix F).
———. 2014. California Greenhouse Gas Inventory for 2000–2012.
http://www.arb.ca.gov/cc/inventory/data/data.htm.
———. 2015. California Greenhouse Gas Inventory for 2000–2013 – by Category as Defined in the
2008 Scoping Plan. http://www.arb.ca.gov/cc/inventory/data/data.htm.
CNRA (California Natural Resources Agency). 2009. 2009 California Climate Adaptation Strategy.
EPA (US Environmental Protection Agency). 2016a. Carbon Dioxide.
http://www.epa.gov/climatechange/emissions/co2.html.
———. 2016b. Methane. https://www3.epa.gov/climatechange/ghgemissions/gases/ch4.html.
———. 2016c. Nitrous Oxide.
https://www3.epa.gov/climatechange/ghgemissions/gases/n2o.html.
IPCC (Intergovernmental Panel on Climate Change). 2013. “Carbon and Other Biogeochemical
Cycles.” In Climate Change 2013: The Physical Science Basis. Contribution of Working
Group I to the Fifth Assessment Report of the Intergovernmental Panel on Climate Change.
———. 2014. Climate Change 2014 Synthesis Report: Approved Summary for Policymakers.
http://www.ipcc.ch/.
South San Francisco, City of. 2011a. El Camino Real/Chestnut Avenue Area Plan – General Plan
Amendment.
———. 2011b. City of South San Francisco El Camino Real/Chestnut Avenue Area Plan, and
associated General Plan Amendment, and Zoning Ordinance Amendment. Final
Environmental Impact Report.
———. 2014a. South San Francisco General Plan.
———. 2014b. Climate Action Plan.
3.7 – HAZARDS AND HAZARDOUS
MATERIALS
3.7 HAZARDS AND HAZARDOUS MATERIALS
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.7-1
This section discusses safety hazards in the project area and analyzes the potential for the
proposed project to create hazards to public health or the environment related to hazardous
materials and airport hazards. For information about toxic air contaminants, please refer to
Section 3.2, Air Quality.
3.7.1 SEIR SUMMARY TABLE
A summary of the Community Civic Campus Project impact conclusions related to hazards and
hazardous material is provided below.
Impact Number Impact Topic Impact Significance
3.7.1 Hazardous materials use Less than significant
3.7.2 Cortese List sites and potential for environmental
contamination Less than significant with mitigation
3.7.3 Hazardous building materials Less than significant
3.7.4 Cumulative hazardous materials impacts Less than cumulatively considerable with
mitigation
Impacts identified in the El Camino Real/Chestnut Avenue Area Plan Environmental Impact
Report (ECR/C EIR) are summarized with the project impacts in subsection 3.7.4.
3.7.2 EXISTING SETTING
ECR/C AREA PLAN SETTING
Land uses in the planning area for the El Camino Real/Chestnut Avenue (ECR/C) Area Plan
include medical, commercial, office, and residential. Activities associated with these land uses
may pose environmental, health, and safety risks. These risks include accidents involving vehicles
transporting hazardous materials or hazardous wastes, accidental spills or leaks, and improper
use, handling, storage, transport, and disposal of hazardous materials. The 2011 ECR/A Area Plan
EIR indicated there were two locations with permitted underground storage tanks (USTs), but no
open cases of soil or groundwater contamination within the planning area or sites included on
the Cortese List (South San Francisco 2011b).1
The City of South San Francisco has adopted an emergency operations plan (Association of Bay
Area Governments Multi-Jurisdictional Local Hazard Mitigation Plan), which is used for managing
the City’s response to multi-department and multi-jurisdiction emergencies and to facilitate
communications and coordination between all levels of the system and among all responding
departments and agencies.
The planning area is not identified as a fire hazard management unit in the City’s General Plan,
which identifies areas that need vegetation management or other measures to reduce wildland
fire risk and increase the potential for successful fire suppression.
1 Government Code Section 65962.5 requires compilation of a list of hazardous waste and substances sites to be used as
a planning document by state and local agencies and developers to comply with the CEQA requirements. This list is
commonly referred to as the Cortese List. The California State Water Resources Control Board (SWRCB) and the California
Department of Toxic Substances Control (DTSC) maintain lists of contaminated sites in California (GeoTracker and
EnviroStor databases, respectively).
3.7 HAZARDS AND HAZARDOUS MATERIALS
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.7-2
The planning area is located north of San Francisco International Airport (SFO) and within the
San Mateo County Airport Land Use Commission’s (ALUC) jurisdiction. The ALUC allows
development within the ALUC boundaries, provided that development is below a prescribed
height limit and within certain noise level ranges. These limits are established in the
Comprehensive Airport Land Use Compatibility Plan, the most recent of which was adopted by
the City/County Association of Governments of San Mateo County (C/CAG) in 2012. The
planning area is not located in any runway safety zones, but it is within Airport Influence Area B
(C/CAG 2012).
PROJECT SITE CURRENT CONDITIONS
The eastern project site is vacant except for the office/commercial development on one parcel
on the east side. A channelized segment of Colma Creek flows through the eastern project site.
The western project site contains the existing Municipal Services Building and an adjacent
parking lot. The Municipal Services Building, which has a subterranean garage, houses the South
San Francisco Parks and Recreation Department, the South San Francisco Police Department,
and South San Francisco Fire Station No. 63.
Hazardous Materials
Hazardous materials use and waste generation is minimal on the western project site because
current developed uses are limited to the City’s Municipal Services Building and
office/commercial activities.
A Phase I Environmental Site Assessment (ESA) was prepared in August 2016 for a portion of the
eastern project site and additional parcels not part of this project (see Appendix HAZ). The
eastern project site contains two sites listed on the Cortese List. Both are former underground fuel
storage tank sites that are on the parcel which would remain developed with existing uses. The
two sites are indicated as “case closed” in the EnviroStor and GeoTracker regulatory databases.
The remaining parcels on the eastern project site are currently vacant. However, based on a
cursory review of aerial photographs from the 1950s to the early 2000s, there were various small
features, including vehicles and a parking lot, indicating some activity occurred on the eastern
project site for several years.
There are no Cortese List sites on the western project site. However, there is an active soil and
groundwater investigation and cleanup site on the parcel adjoining the Municipal Services
Building. Soil, soil vapor, and shallow, perched groundwater beneath a former dry cleaning
business (My Cleaners) is contaminated with volatile organic compounds (VOCs). Investigations
are also being performed to determine whether two former dry cleaners upgradient from the My
Cleaners site have also contributed to VOCs in the immediate area. The San Mateo County
Environmental Health Department is overseeing the assessments at the three former dry cleaner
sites (DTSC 2017; SWRCB 2017).
The planning area is crossed by a Pacific Gas and Electric Company (PG&E) 30-inch high-
pressure gas line, which runs southeasterly along Mission Road and enters the planning area
near Oak Avenue and continues southeast toward First Street (South San Francisco 2011b). The
high-pressure gas line was relocated as outlined in the El Camino Real Specific Plan and it does
not cross the project site.
The Municipal Services Building and Fire Station No. 63 were constructed in the 1970s. Building
materials in structures constructed at the time sometimes contain hazardous materials such as
asbestos-containing materials (ACM) in insulation and flooring materials. Lead-based paint (LBP)
3.7 HAZARDS AND HAZARDOUS MATERIALS
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.7-3
may have also been used. Prior to demolition of structures where ACM or LBP may be present,
regulations require testing for the materials, and if these materials are present in amounts that
are subject to regulation, demolition may not proceed until hazards have been abated.
California Environmental Quality Act (CEQA) Guidelines Section 15186 establishes a special
requirement for certain projects near schools to ensure that potential health impacts resulting
from exposure to hazardous materials, wastes, and substances will be examined and disclosed in
a negative declaration or EIR. There are two schools within 0.25 mile of the project site: Urban
Sprouts Preschool and R. W. Drake Preschool.
Airport Operations Hazards
The project site is not located in any runway safety zones at SFO, but it is within Airport Influence
Area B (C/CAG 2012).
Emergency Response/Evacuation
The project site is bisected by El Camino Real, which may be used for evacuation purposes in
the event of an emergency. There is an existing Fire Station (Station No. 63) adjoining the
Municipal Services Building on the western project site. As part of the proposed project, this
station would be replaced and would remain in its same location.
3.7.3 REGULATORY FRAMEWORK
FEDERAL
Several federal agencies regulate hazardous substances. These include the US Environmental
Protection Agency (EPA), the Occupational Safety and Health Administration (OSHA), and the
US Department of Transportation (DOT). Applicable federal regulations and guidelines are
contained primarily in Titles 10, 29, 40, and 49 of the Code of Federal Regulations (CFR).
The key EPA laws governing the use, storage, and disposal of hazardous materials that are
relevant to the proposed project are the Resources Conservation and Recovery Act (RCRA), the
Hazardous and Solid Waste Amendments Act, and the Toxic Substances Control Act, which
address hazardous materials and wastes, and the Comprehensive Environmental Response,
Compensation, and Liability Act (CERCLA) and Superfund Amendments and Reauthorization
Act, which address cleanup of contamination. Specific regulations for implementation of these
statutes are codified in CFR Title 40. Federal regulations have also been adopted regarding the
removal and disposal of asbestos-containing materials and items containing polychlorinated
biphenyl (PCB).
CFR Title 29, Part 1910 describes the federal Hazard Communication Standard, which requires
that workers, including workers at construction sites, be informed of the hazards associated with
the materials they handle. Training in chemical work practices must include methods in the safe
handling of hazardous substances, use of emergency response equipment, and an explanation
of the building emergency response plan and procedures.
The transportation of hazardous materials on roadways and by rail and air is regulated by the
DOT and the EPA. These two agencies coordinate their efforts, especially at the regional level, to
obtain compliance with both RCRA and Hazardous Materials Transportation Act (HMTA)
regulations. Under the authority of the RCRA, the EPA regulates the transportation of hazardous
3.7 HAZARDS AND HAZARDOUS MATERIALS
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.7-4
materials. The EPA coordinates its transportation ordinances with the requirements of the HMTA
and any statutes promulgated by the US Department of Transportation pursuant to the HMTA.
Occupational and Safety Health Act (29 USC Section 651 et seq.)
The Occupational and Safety Health Act is intended to ensure worker and workplace safety by
requiring that employers provide their workers a place of employment free from recognized
hazards to safety and health, such as exposure to toxic chemicals, excessive noise levels,
mechanical dangers, heat or cold stress, or unsanitary conditions.
Toxic Substances Control Act (15 USC Section 2601 et seq.)
The Toxic Substances Control Act provides the EPA with the authority to require reporting,
record-keeping, and testing requirements, and restrictions relating to chemical substances
and/or mixtures. The act addresses the production, importation, use, and disposal of specific
chemicals, including polychlorinated biphenyl, asbestos, radon, and lead-based paint.
Federal Hazardous Materials Transportation Law and Hazardous Materials Regulations (49 USC
Section 5101 et seq.)
The federal hazardous materials transportation law is the basic statute regulating the
transportation of hazardous materials in intrastate, interstate, and foreign commerce. The
Hazardous Materials Regulations are administered by the Pipeline and Hazardous Material Safety
Administration (PHMSA) and implement the federal hazmat law. The regulations govern the
transportation of hazardous materials via highway, rail, vessel, and air by addressing hazardous
materials classification, packaging, hazard communication, emergency response information,
and training. They also issue procedural regulations, including provisions on registration and
public sector training and planning grants (49 CFR Parts 105, 106, 107, and 110).
STATE
Hazardous Materials and Waste Management
The primary state laws pertaining to hazardous materials and wastes that may be applicable to
the proposed project, depending on the activity, include the Hazardous Waste Control Law, the
Hazardous Substances Information and Training Act, the Air Toxics Hot Spots and Emissions
Inventory Law, the Underground Storage of Hazardous Substances Act, and the Porter-Cologne
Water Quality Control Act.
At the state level, the California Environmental Protection Agency (CalEPA) is the “umbrella”
agency under which a number of the state’s environmental agencies operate. These
subordinate agencies include the California Air Resources Board, the Department of Pesticide
Regulation, the Department of Toxic Substances Control (DTSC), the Department of Resources
Recycling and Recovery (CalRecycle), the Office of Environmental Health Hazard Assessment,
and the State Water Resources Control Board (SWRCB).
Within CalEPA, the DTSC has primary regulatory responsibility for hazardous waste management.
CalEPA has adopted regulations implementing a Unified Hazardous Waste and Hazardous
Materials Management Regulatory Program (Unified Program). The program is implemented at
the local level by a local agency—the Certified Unified Program Agency (CUPA). The San Mateo
County Environmental Health Department is the CUPA with oversight of projects in South San
Francisco. Assembly Bill 2286 requires all businesses handling regulated quantities of hazardous
3.7 HAZARDS AND HAZARDOUS MATERIALS
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.7-5
material to electronically report inventories and site maps to the local jurisdiction. As the CUPA,
the County’s Environmental Health Department is required to report hazardous materials
inventories and compliance inspection data to the State of California.
The California Highway Patrol, the California Department of Transportation (Caltrans), and the
DTSC implement and enforce state and federal laws regarding hazardous materials
transportation.
Certain projects are required to comply with the National Pollutant Discharge Elimination System
(NPDES) general construction permit to manage stormwater runoff (see Section 3.8, Hydrology
and Water Quality). This permit requires a stormwater pollution prevention plan (SWPPP) that
identifies best management practices (BMPs) for the handling of fuels and oils, including
measures to minimize the potential for spills. These BMPs are intended to minimize the potential
for accidental spills on construction sites by requiring the designation of safe, covered storage
areas for such materials as well as safe handling practices.
LOCAL
City of South San Francisco General Plan
The City’s General Plan includes Chapter 8, the Health and Safety Element, that addresses
hazards in a comprehensive manner through hazard abatement policies and measures to
reduce risks to life and property in existing and new development. Policies that are relevant to
the project are:
8.3-G-1 Reduce the generation of solid waste, including hazardous waste, and recycle
those materials that are used, to slow the filling of local and regional landfills, in
accord with the California Integrated Waste Management Act of 1989.
8.3-G-2 Minimize the risk to life and property from the generation, storage, and
transportation of hazardous materials and waste in South San Francisco. Comply
with all applicable regulations and provisions for the storage, use and handling of
hazardous substances as established by federal (EPA), State (DTSC, RWQCB, Cal
OSHA, Cal EPA), and local (County of San Mateo, City of South San Francisco)
regulations.
El Camino Real/Chestnut Avenue Area Plan
Section 3.2 in the ECR/C Area Plan establishes the maximum building heights for the project site
at 80 feet, rising to 120 feet with discretionary approval. Figure 3-2 in the Area Plan illustrates the
planning area relative to height restrictions for SFO. The project site is not in an area subject to
Federal Aviation Regulations Part 77 airspace protection surfaces subject to height restrictions.
The Area Plan does not include any policies that address hazardous materials.
3.7.4 IMPACTS AND MITIGATION MEASURES
STANDARDS OF SIGNIFICANCE
This analysis evaluates the project’s impacts from hazards and hazardous materials based on the
standards identified in CEQA Guidelines Appendix G. A hazards and hazardous materials impact
is considered significant if the project would:
3.7 HAZARDS AND HAZARDOUS MATERIALS
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.7-6
1) Create a significant hazard to the public or the environment through the routine
transport, use, or disposal of hazardous materials.
2) 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.
3) Emit hazardous emissions or handle hazardous or acutely hazardous materials,
substances, or waste within one-quarter mile of an existing or proposed school.
4) Be located on a site which is included on a list of hazardous materials sites compiled
pursuant to Government Code Section 65962.5 and, as a result, create a significant
hazard to the public or the environment.
5) For a project located within an airport land use plan or, where such a plan has not been
adopted, within 2 miles of a public airport or public use airport, result in a safety hazard
for people residing or working in the project area.
6) For a project in the vicinity of a private airstrip, result in a safety hazard for people
residing or working in the project area.
7) Impair implementation of or physically interfere with an adopted emergency response
plan or emergency evacuation plan.
8) Expose people or structures to a significant risk of loss, injury, or death involving wildland
fires, including where wildlands are adjacent to urbanized areas or where residences are
intermixed with wildlands.
Changes in the CEQA Guidelines
There have been no changes in the CEQA Guidelines since 2011 that are relevant to the analysis
of hazards and hazardous materials impacts.
Impacts Not Evaluated in Detail
The maximum building heights for the project site were established in the ECR/C Area Plan. The
site is not in an area subject to Federal Aviation Regulations Part 77 airspace protection surfaces
subject to height restrictions. There are no private airports within 2 miles. There would be no
impacts relative to Standards of Significance 5 and 6, and these impacts are not further
evaluated.
The project site is an urban infill site and is not located at a wildland-urban interface. There
would be no impact relative to Standard of Significance 8, and this impact is not further
evaluated.
METHODOLOGY
The following qualitative impact analysis is based on a review of the analysis completed in the
project area for the ECR/C Area Plan EIR, supplemented with current information from public
databases pertaining to hazardous materials, and the current adopted Comprehensive Airport
Land Use Compatibility Plan for SFO.
3.7 HAZARDS AND HAZARDOUS MATERIALS
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.7-7
PROJECT IMPACTS AND MITIGATION MEASURES
Hazardous Materials Use (Standards of Significance 1, 2, and 3)
Impact 3.7.1 The proposed project would involve the use of hazardous materials during
demolition, construction, and operation, but types and amounts would be
limited due to the civic campus land uses. This impact would be less than
significant.
ECR/C Area Plan EIR Impacts
The ECR/C Area Plan EIR concluded there would be no impacts related to hazardous materials
use, including uses near schools, because the land use designations and zoning would limit
development to commercial and residential uses. No hazardous materials handlers (e.g., auto
repair) would be permitted as a commercial land use (South San Francisco 2011b).
Subsequent Project Impacts
Demolition and construction activities would require the temporary transport, handling, use,
storage, and disposal of common products used in construction equipment such as gasoline,
diesel fuel, oils, and construction materials such as solvents, asphalt, glues and cements, and
paints. The ECR/C Area Plan would be amended to allow for the proposed municipal uses, and
activities in the new facilities would involve the routine use of common items such as cleaning
and maintenance products. Similar to the approved uses in the ECR/C Area Plan, none of
community civic campus uses would involve large quantities of hazardous materials or industrial
uses that would pose a substantial adverse risk to people and the environment. None of the
activities or uses would result in hazardous air emissions within 0.25 mile of the preschools in the
vicinity.
As described in subsection 3.7.3, Regulatory Framework, numerous existing regulations at the
federal, state, and local levels are intended to minimize potential hazards to the public and the
environment from the improper handling or accidental release of hazardous materials. As
described in Section 3.8, Hydrology and Water Quality, in compliance with the State’s
Construction General Permit, the City would be required to prepare and implement an
approved SWPPP that identifies measures to ensure hazardous materials use is managed
properly to reduce the possibility of contamination of nearby waterways. Construction
contractors would be responsible for ensuring compliance with applicable regulations during
any construction activities involving hazardous materials use or the generation of hazardous
waste. This would minimize the potential for improper use, transport, and disposal that could
result in releases of hazardous materials. The revised project’s impact would be less than
significant.
Mitigation Measures
None required.
Cortese List Sites and Potential for Environmental Contamination (Standards of Significance 2, 3,
and 4)
Impact 3.7.2 The proposed project would involve ground disturbance in locations adjacent
to or near known sources of soil and groundwater contamination (western
project site) or where there is the potential for contamination from historic
3.7 HAZARDS AND HAZARDOUS MATERIALS
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.7-8
uses (eastern project site). This impact would be less than significant with
mitigation.
ECR/C Area Plan EIR Impacts
The ECR/C Area Plan EIR stated that the planning area does not contain any sites listed on the
DTSC’s Cortese List, and there would be no impact posed by future development on a site listed
on the Cortese List (South San Francisco 2011b).
Subsequent Project Impacts
If project construction activities result in soil disturbance, there is the potential that hazardous
materials contamination could be encountered. This could pose a risk to construction workers
through direct contact with contaminated soils or an inhalation hazard from dust containing
contaminants. The public could also be at risk from contaminated soil that becomes airborne. If
soil containing contaminants is exposed during rain events, there is the potential for stormwater
to become contaminated and discharged to the City’s storm drain system, where it could
adversely affect water quality in Colma Creek, which receives runoff from the planning area. If
soil requires export (e.g., on the eastern project site), there is the potential that contaminated soil
could be disposed of improperly. This would be a potentially significant impact because it could
result in 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.
Environmental site assessments (ESAs) are used to ascertain the potential for hazardous materials
to be present in the environment (soil, soil vapor, surface water, sediment, or groundwater). The
results of a Phase I ESA are used to determine whether additional investigation and/or cleanup
or other management controls are necessary to protect human health and the environment
(Phase II ESA). Even with due diligence, there would still be the potential for previously unknown
or unidentified environmental contamination to be discovered during earthwork, particularly
during excavation and trenching. The mechanisms for human and environmental exposure
would be as described above and would be a potentially significant impact. For the portion of
the project that has an existing ESA (see Appendix HAZ), recommendations for remediation
would need to be implemented or an additional Phase II would be required prior to
construction. For those parcels that have no ESA, implementation of mitigation measures MM
3.7.2a and MM 3.7.2b would ensure that hazardous materials contamination, if any, is properly
identified and managed in accordance with applicable regulations. The potential
environmental impacts of remediation (e.g., removing contaminated soil) would be mitigated
through adherence to applicable regulations, and the benefits of remediation would outweigh
the potential risks. This would reduce the revised project’s impacts to less than significant with
mitigation.
Mitigation Measures
MM 3.7.2a If project construction will result in soil disturbance or underground utility work
where soil will be disturbed, the City shall require that a Phase I Environmental
Site Assessment be completed according to ASTM E 1527 (Standard Practice
for Environmental Site Assessments). A Phase I ESA shall also be required for
any work involving subsurface building structures at the Municipal Services
Building due to the presence of soil vapor investigations and monitoring wells
on the adjoining parcel to the east.
3.7 HAZARDS AND HAZARDOUS MATERIALS
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.7-9
If the Phase I ESA concludes there are no recognized environmental
conditions, as defined in ASTM E 1527, work may proceed, but construction
drawings shall include a note indicating the potential to encounter previously
unknown contamination, as specified in mitigation measure MM 3.7.2b. If the
Phase I ESA concludes that a Phase II ESA is required to investigate the extent
of known or potential contamination, construction may not occur until a work
plan describing remediation and/or necessary site controls has been
approved and the site has been remediated to the satisfaction of the
regulatory agency with oversight responsibility. The appropriate regulatory
agency or agencies will depend on the nature of the contamination and
could include the San Mateo County Environmental Health Department, the
San Francisco Bay Regional Water Quality Control Board, and/or the
California Department of Toxic Substances Control.
MM 3.7.2b If hazardous materials are encountered during construction or accidentally
released as a result of construction activities, the following procedures shall
be implemented:
The contractor shall stop all work within 100 feet of any discovered
contamination or release.
A qualified professional shall determine the scope and immediacy of the
problem and recommend control measures.
The City shall be responsible for regulatory oversight agency notification
as required by state law and regulations.
The City shall commence the necessary investigation and remediation
activities to resolve the situation before continuing construction work.
Hazardous Building Materials (Standards of Significance 2 and 3)
Impact 3.7.3 The proposed project would demolish Fire Station No. 63 prior to its
replacement. If the building contains asbestos or lead-based paint, there is
the potential for these materials to be released to the environment. This
impact would be less than significant.
2011 ECR/C Area Plan EIR Impacts
The ECR/C Area Plan EIR did not identify any impacts pertaining to asbestos-containing materials
or lead-based paint.
Subsequent Project Impacts
Building materials sometimes contain hazardous materials such as ACM in insulation and flooring
materials. LBP may have also been used. Prior to demolition of structures where ACM or LBP may
be present, regulations require testing for the materials. If these materials are present in amounts
that are subject to regulation, demolition may not proceed until hazards have been abated.
The City would be responsible for ensuring proper testing and removal of these materials, which
would reduce the potential for accidental release or improper disposal that could pose an
adverse human health or environmental risk. Impacts would be less than significant.
3.7 HAZARDS AND HAZARDOUS MATERIALS
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.7-10
Mitigation Measures
None required.
3.7.5 CUMULATIVE SETTING, IMPACTS, AND MITIGATION MEASURES
CUMULATIVE SETTING
The ECR/C EIR defined the cumulative setting for the analysis of impacts as development of the
Area Plan through 2030 concurrent with development in the region (South San Francisco 2011b).
CUMULATIVE IMPACTS AND MITIGATION MEASURES
Cumulative Hazardous Materials Impacts
Impact 3.7.4 The project, in combination with regional development, would result in
hazardous materials use and/or potential impacts associated with hazardous
materials contamination, but the project’s contribution would be less than
cumulatively considerable with mitigation.
2011 ECR/C Area Plan Impacts
The 2011 ECR/C EIR found all impacts on hazards and hazardous materials to be less than
significant and did not find any cumulatively considerable impacts on hazardous materials
(ECR/C EIR, page 3.12-11).
Subsequent Project Impacts
Hazardous materials impacts are generally site-specific and not cumulative by nature, as
impacts generally vary by land use, site characteristics, and site history. Hazardous materials are
routinely used in South San Francisco, primarily in research and development and industrial land
uses. Demolition, construction, and operation of the proposed project would not result in new
hazardous materials uses or an increase in hazardous materials use compared that which would
have occurred with implementation of the approved Area Plan, as described in Impact 3.7.1. As
such, the proposed project’s contribution would be less than cumulatively considerable. For sites
where hazardous materials contamination may be present, there is a comprehensive regulatory
framework for investigating, evaluating, and remediating, where necessary, potential hazards,
including but not limited to environmental contamination and hazardous materials in building
features. The proposed project may result in impacts related to hazardous materials
contamination (Impacts 3.7.2 and 3.7.3), but with implementation of mitigation measures (MM
3.7.2a and MM 3.7.2b) and adherence to existing regulations, the project’s contribution would
not be cumulatively considerable. Therefore, the project’s contribution to hazardous materials
impacts would be less than cumulatively considerable with mitigation.
Mitigation Measures
MM 3.7.2a and MM 3.7.2b
3.7 HAZARDS AND HAZARDOUS MATERIALS
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.7-11
3.7.6 REFERENCES
C/CAG (City/County Association of Governments of San Mateo County). 2012. Comprehensive
Airport Land Use Plan for the Environs of San Francisco International Airport.
DTSC (Department of Toxic Substances Control). 2017. EnviroStor database.
South San Francisco, City of. 2011a. El Camino Real/Chestnut Avenue Area Plan – General Plan
Amendment.
———. 2011b. City of South San Francisco El Camino Real/Chestnut Avenue Area Plan, and
associated General Plan Amendment, and Zoning Ordinance Amendment. Final
Environmental Impact Report.
———. 2014. South San Francisco General Plan.
SWRCB (State Water Resources Control Board. 2017. GeoTracker database.
3.7 HAZARDS AND HAZARDOUS MATERIALS
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.7-12
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3.8 – HYDROLOGY AND WATER
QUALITY
3.8 HYDROLOGY AND WATER QUALITY
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.8-1
This section identifies the hydrological resources, the existing drainage conditions, and the
surface water and groundwater quality in the project area. The section also evaluates the
potential project impacts with respect to flooding, drainage, erosion, and water quality.
3.8.1 SEIR SUMMARY TABLE
A summary of the Community Civic Campus Project impact conclusions related to hydrology
and water quality is provided below. Several hydrology impacts were determined to result in no
impact and do not require further detailed analysis in this section. See Impacts Not Evaluated in
Detail, in subsection 3.8.4.
Impact Number Impact Topic Impact Significance
3.8.1 Water quality standards Less than significant
3.8.2 Cumulative stormwater runoff and water quality Less than cumulatively considerable
Impacts identified in the El Camino Real/Chestnut Avenue Area Plan Environmental Impact
Report (ECR/C EIR) are summarized with the project impacts in subsection 3.8.4.
3.8.2 EXISTING SETTING
ECR/C AREA PLAN SETTING
Surface Water Hydrology and Water Quality
The planning area is in the Colma Creek watershed. Colma Creek flows through portions of
Colma, South San Francisco, San Bruno, and Daly City, extending from San Bruno Mountain to
the creek’s outlet at the San Francisco Bay just north of San Francisco International Airport and
south of Point San Bruno. Colma Creek runs southeast through the planning area between El
Camino Real and Mission Road. It is channelized along its reach through the planning area.
Within the planning area, the majority of stormwater runoff is conveyed to a network of drain
inlets and pipes that discharge to Colma Creek (South San Francisco 2011b).
The City has developed a Storm Water Management Plan and participates in the San Mateo
Countywide Stormwater Pollution Prevention Program. The City has selected a number of best
management practices (BMPs), which have been implemented for City-owned drainage
systems and will be required for all new development or redevelopment to reduce
contaminants from entering the City’s stormwater system and Colma Creek. The City requires all
new development and redevelopment to incorporate stormwater quality BMPs in drainage
design to reduce urban pollutants discharged in stormwater to Colma Creek.
Colma Creek is listed under Section 303(d) of the federal Clean Water Act as an impaired water
body due to trash. BMPs required by the City address trash, and upon project-level review, the
City has required some projects to provide trash cleanup on a daily basis (South San Francisco
2011b).
3.8 HYDROLOGY AND WATER QUALITY
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.8-2
Flood Hazards
Figure 3.11-1 in the El Camino Real/Chestnut Avenue (ECR/C) Area Plan EIR shows flood zones
associated with Colma Creek in the planning area, based on Federal Emergency Management
Agency (FEMA) Flood Insurance Rate Maps (FIRMs) available at that time. The Colma Creek
channel was designated as Zone A, and areas northeast of the channel were designated Zone
AE (South San Francisco 2011b).
The planning area is within the Colma Creek Flood Control Zone. Flood control and
maintenance of stream channel improvements are the responsibility of the San Mateo County
Flood Control District (South San Francisco 2011b).
Dam failure inundation maps prepared by the Association of Bay Area Governments (ABAG)
show the planning area as urbanized with no dam failure inundation area. There are no levees
along Colma Creek in the planning area (South San Francisco 2011b).
The Tsunami Inundation Emergency Planning map for the San Francisco Bay Region prepared by
ABAG does not identify the planning area as a tsunami inundation area. The planning area does
not contain nor is it near any large enclosed water bodies in the county that may pose
significant seiche potential. The project site is flat, and because Colma Creek is channelized
through the planning area, there is no mudflow hazard (South San Francisco 2011b).
Groundwater
Most of the planning area is largely built out with impermeable surfaces (approximately 80
percent), and underlying soils are typically clays with low permeability. There is limited potential
for infiltration. Recharge is generally concentrated in the immediate near-stream areas where
open space is present. Colma Creek is channelized through the planning area. Potable water
supply for the planning area is provided by California Water Service (Cal Water) through existing
local infrastructure (South San Francisco 2011b).
PROJECT SITE CURRENT CONDITIONS
Colma Creek is immediately northeast of the eastern project site. The western project site and
the parcel with an existing structure are developed with impervious surfaces such as buildings
and parking areas. Although there are some remnant impervious surfaces from past uses on the
project site, there has been no development on the vacant parcels in the eastern project site or
storm drainage system capacity improvements. Runoff from the western and eastern project
sites is currently conveyed to the City’s storm drain system from those locations and is discharged
to Colma Creek.
In 2012, subsequent to the approval of the ECR/C Area Plan, FEMA published a new 100-year
flood hazard map that includes the planning area. The project site is not within a 100-year flood
hazard zone delineated on the 2012 map.
According to maps developed by the National Oceanic and Atmospheric Administration
(NOAA), Colma Creek beginning just west of S. Spruce Avenue and continuing east toward
Oyster Point and San Francisco Bay may be vulnerable to increased water levels (NOAA 2017).
The project site is west of that location and therefore would not be anticipated to be at risk of
climate change–induced sea level rise.
3.8 HYDROLOGY AND WATER QUALITY
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.8-3
3.8.3 REGULATORY FRAMEWORK
FEDERAL
Clean Water Act
The Clean Water Act (CWA) regulates the water quality of all discharges into waters of the
United States, including wetlands and perennial and intermittent stream channels. The CWA is
administered and enforced at the state level by the State Water Resources Control Board
(SWRCB) and the nine Regional Water Quality Control Boards (RWQCBs).
National Pollutant Discharge Elimination System
CWA Section 402 regulates construction-related stormwater discharges to surface waters
through the National Pollutant Discharge Elimination System (NPDES) program, administered by
the US Environmental Protection Agency (EPA). In California, the State Water Resources Control
Board is authorized by the EPA to oversee the NPDES program through the Regional Water
Quality Control Boards. The project area is under the jurisdiction of the San Francisco Bay
RWQCB.
NPDES permits are required for projects that disturb more than 1 acre of land. The NPDES
permitting process requires the applicant to file a public notice of intent (NOI) to discharge
stormwater and to prepare and implement a stormwater pollution prevention plan (SWPPP). The
SWPPP includes a site map and a description of proposed construction activities. In addition, it
describes the best management practices (BMPs) that would be implemented to prevent soil
erosion and discharge of other construction-related pollutants (e.g., petroleum products,
solvents, paints, cement) that could contaminate nearby water resources. Permittees are
required to conduct annual monitoring and reporting to ensure that BMPs are correctly
implemented and effective in controlling the discharge of stormwater-related pollutants.
Because the proposed project would disturb more than 1 acre of land, an NPDES permit and a
SWPPP would be required for construction activities.
Section 402(p) of the CWA regulates stormwater discharges from municipal separate storm
sewer systems (MS4s) and industrial activities. An MS4 is a conveyance system or system of
conveyances (including roads with drainage systems, municipal streets, catch basins, curbs,
gutters, ditches, man-made channels, or storm drains) designed or used for collecting or
conveying stormwater. The San Francisco Bay RWQCB has issued a permit for municipal
discharges, which is described under the Local subheading, below.
STATE
Porter-Cologne Water Quality Control Act
The Porter-Cologne Water Quality Control Act governs the coordination and control of water
quality in the state and includes provisions relating to non-point source pollution. California
Water Code Section 13260 requires “any person discharging waste, or proposing to discharge
waste, in any region that could affect the waters of the state to file a report of discharge (an
application for waste discharge requirements).”
RWQCBs are responsible for establishing water quality standards and objectives that protect the
beneficial uses of surface water and groundwater. Water quality objectives and beneficial uses
for the San Francisco Bay and surface waters that flow to the bay are set forth in the Water
Quality Control Plan for the San Francisco Bay Region (Basin Plan).
3.8 HYDROLOGY AND WATER QUALITY
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.8-4
NPDES General Permit for Stormwater Discharges Associated with Construction
The SWRCB has adopted a General Permit for Stormwater Discharges Associated with
Construction and Land Disturbance Activities (Construction General Permit) (CAS000002, Waste
Discharge Requirements, Order No. 2009-0009-DWQ, as amended by Order No. 2010-0014-DWQ
and Order 2012-0006-DWQ). The Construction General Permit applies to any construction activity
affecting 1 acre or more. The focus of the permit is to minimize the potential effects of
construction runoff on receiving water quality. The permit requires preparation of a SWPPP that
identifies best management practices describing erosion control measures. Project proponents
(which includes the City of South San Francisco) are required to submit a notice of intent, a site
map, a signed certification statement, an annual fee, and a SWPPP. The permit program is risk-
based, wherein a project’s risk is based on the project’s potential to cause sedimentation and
the risk of such sedimentation on the receiving waters. The project would result in more than 1
acre of disturbance and therefore would be required to implement permit requirements.
The SWPPP must include best management practices to reduce construction effects on
receiving water quality by implementing erosion control measures and reducing or eliminating
non-stormwater discharges. Examples of typical construction best management practices
included in SWPPPs include, but are not limited to, using temporary mulching, seeding, or other
suitable stabilization measures to protect uncovered soils; storing materials and equipment to
ensure that spills or leaks cannot enter the storm drain system or surface water; developing and
implementing a spill prevention and cleanup plan; and installing sediment control devices such
as gravel bags, inlet filters, fiber rolls, or silt fences to reduce or eliminate sediment and other
pollutants from discharging to the drainage system or receiving waters.
Small amounts of construction-related dewatering are covered under the Construction General
Permit. Coverage under the Construction General Permit typically covers uncontaminated
dewatering activities, which are considered in the permit to be authorized non–stormwater
discharges. As part of the Construction General Permit, all dewatering discharges are required
to be filtered or treated, using appropriate technology, from sedimentation basins.
REGIONAL
Municipal Regional Stormwater Permit
South San Francisco is one of 20 cities in San Mateo County that, together with other jurisdictions
in Alameda, Contra Costa, and Santa Clara counties, are regulated under Joint Municipal
NPDES Permit Municipal Regional Stormwater Permit [MRP] NPDES No. CAS612008 Order No. R2-
2015-0049 issued by the San Francisco Bay RWQCB. Provision C.3 of the MRP contains
requirements that each MRP discharger (such as the City of South San Francisco) must control
the flow of stormwater and stormwater pollutants from new and redevelopment sites over which
it has jurisdiction. Provision C.3.c establishes thresholds at which new development and
redevelopment projects must comply with Provision C.3, although the MRP also requires
agencies to encourage all projects subject to local development review to include adequate
source control and site design measures that minimize stormwater pollutant discharges.
Regardless of a project’s need to comply with Provision C.3, municipalities apply standard
stormwater conditions of approval for projects that receive development permits. These
conditions of approval require appropriate site design, source control measures, and, in some
cases, treatment measures. The thresholds for determining whether Provision C.3 applies to a
project (in which case the project is a C.3 Regulated Project) are based on the amount of
impervious surface that is created and/or replaced by a project (C/CAG 2014).
3.8 HYDROLOGY AND WATER QUALITY
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.8-5
Because the City of South San Francisco is a permittee, implementation of the MRP requirements
in the city is administered and monitored through the San Mateo Countywide Water Pollution
Prevention Program.1 The City currently requires the submittal of Stormwater Control Plans with all
new development applications. Plans must be consistent with the Program’s C.3 Stormwater
Technical Guidance, which includes many options for site control and treatment of runoff.
LOCAL
City of South San Francisco General Plan
Section 7.2, Water Quality, of General Plan Chapter 7, Open Space and Conservation, contains
the following policies that are relevant to the analysis of the proposed project’s hydrology and
water quality impacts:
7.2-G-l Comply with the San Francisco Bay RWQCB regulations and standards to
maintain and improve the quality of both surface water and groundwater
resources.
7.2-G-2 Enhance the quality of surface water resources and prevent their contamination.
7.2-G-3 Discourage use of insecticides, herbicides, or toxic chemical substances within
the city.
7.2-1-1 Continue working with the San Francisco Bay RWQCB in the implementation of
the NPDES, and continue participation in STOPPP for the protection of surface
water and groundwater quality.
7.2-1-2 Review and update the Best Management Practices adopted by the City and in
STOPPP as needed.
City of South San Francisco Municipal Code
Municipal Code Title 14, Water and Sewage, Chapter 14.04, Stormwater Management and
Discharge Control, also known as the City of South San Francisco Stormwater Management and
Discharge Control Ordinance, prohibits non-stormwater discharges to the City’s storm sewer
system. The purpose of the ordinance is to eliminate non-stormwater discharges to the municipal
separate storm sewer, control the discharge to municipal separate storm sewers from spills,
dumping, or disposal of materials other than stormwater, and reduce pollutants in stormwater
discharges to the maximum extent practicable. Section 14.04.131 establishes that stormwater
treatment requirements as specified in the MRP are mandated for certain categories of new
and redevelopment projects based on the amount of impervious area created. Sections
14.04.132 and 14.04.133 set forth requirements for incorporating specific design strategies for
non-regulated and regulated project, respectively. Section 14.04.134 requires that regulated
projects implement low impact design (LID) requirements as specified in the MRP.
City of South San Francisco Best Management Practices
The City requires the implementation of BMPs for new development and construction as part of
its stormwater management program, as levied through standard City conditions of project
approval by the Public Works Department, Engineering Division. These BMPs address both
stormwater quantity and quality.
1 Formerly called the San Mateo Countywide Storm Water Pollution Prevention Program (STOPPP).
3.8 HYDROLOGY AND WATER QUALITY
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.8-6
El Camino Real/Chestnut Avenue Area Plan
The ECR/C Area Plan contains the following policies that are applicable to the analysis of
hydrology and water quality impacts:
UD-7 Ensure that development incorporates green building and site design measures
such as energy-efficient building design, passive heating/cooling strategies,
permeable paving, low-water-consumption planting, and stormwater
management.
DG-40 Extensive and Intensive green roofs will manage stormwater runoff, reduce
energy consumption through insulation, and provide common open space for
residential units. Soil layers are typically two to six inches deep for Extensive roofs
and eight to 24 inches deep for Intensive roofs, depending on the loading
capacity of the roof and the architectural and plant features desired. All green
roofs must be designed to permit routine maintenance and irrigation as
necessary.
3.8.4 IMPACTS AND MITIGATION MEASURES
STANDARDS OF SIGNIFICANCE
Per the California Environmental Quality Act Guidelines (CEQA) Guidelines, a hydrologic or
water quality impact is considered significant if project implementation would result in one or
more of the following:
1) Violate any water quality standards or waste discharge requirements.
2) Substantially deplete groundwater supplies 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).
3) Substantially alter the existing drainage 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.
4) Substantially alter the existing drainage 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 in substantial flooding on- or off-site.
5) Create or contribute runoff water which would exceed the capacity of existing or
planned stormwater drainage systems or provide substantial additional sources of
polluted runoff.
6) Otherwise substantially degrade water quality.
7) Place housing within a 100-year flood hazard area as mapped on a federal Flood
Hazard Boundary or Flood Insurance Rate Map or other flood hazard delineation map.
8) Place within a 100-year flood hazard area structures that would impede or redirect flood
flows.
9) Expose people or structures to a significant risk of loss, injury, or death involving flooding,
including flooding as a result of a failure of a levee or dam.
10) Expose people or structures to inundation by seiche, tsunami, or mudflow.
3.8 HYDROLOGY AND WATER QUALITY
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.8-7
Changes in the CEQA Guidelines
There have been no changes in the CEQA Guidelines since 2011 that are relevant to the analysis
of hydrology and water quality impacts.
Impacts Not Evaluated in Detail
The ECR/C EIR concluded that implementation of the Area Plan would have no impact on
groundwater supplies or recharge (South San Francisco 2011b). There are no changed
circumstances since certification of the ECR/C EIR in 2011. There would be no impact relative to
Standard of Significance 2, and this impact is not further evaluated.
As noted above, FEMA published a new 100-year flood hazard map in 2012, which identifies
flood hazard zones that include Colma Creek and adjoining lands to the northeast, similar to
that depicted in Figure 3.11-1 in the certified ECR/C EIR. Although a 100-year flood hazard zone
is mapped in the planning area, the project site is not in the hazard zone, and the proposed
project would not place housing or structures within that 100-year flood hazard area. There
would be no impact relative to Standards of Significance 7 and 8, and these impacts are not
further evaluated.
The project site is not in a dam or levee failure flood inundation area and is not in a location
vulnerable to seiche, tsunami, or mudflow. The ECR/C EIR concluded there would be no impacts
relative to Standards of Significance 9 and 10 (South San Francisco 2011b), and these impacts
are not further evaluated. The project site is inland and is not in an area subject to climate
change–induced sea level rise, including potential increases in water elevation in Colma Creek
that are predicted east of the project site. There would be no impact relative to Standard of
Significance 9, and this impact is not further evaluated.
METHODOLOGY
The following qualitative impact analysis is based on a review of published information, reports,
maps, and plans regarding regional and local hydrology, water quality, and regulations.
PROJECT IMPACTS AND MITIGATION MEASURES
Water Quality Standards (Standards of Significance 1, 3, 4, 5, and 6)
Impact 3.8.1 Demolition, construction, and operation of the proposed project would
change drainage patterns and generate increased stormwater runoff
containing pollutants that could affect water quality. Compliance with
existing regulations would reduce this impact to less than significant.
2011 ECR/C Area Plan Impacts
The ECR/C EIR stated that implementation of the Area Plan could result in increased rates of
stormwater runoff and subsequent flooding hazards, erosion and siltation, and increases in
nonpoint source pollutants affecting receiving water quality. During construction and operation,
compliance with the Construction General Permit and the MRP during operation requires future
development to provide permanent treatment for site runoff, prepare SWPPPs for construction-
related activities, and implement BMPs as part a project’s stormwater management program.
3.8 HYDROLOGY AND WATER QUALITY
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.8-8
Because Colma Creek is concrete-lined through the planning area, future land use changes
and resultant stormwater discharges to the creek would not result in changes in channel form
(hydromodification) due to flows or sediment. An increase in stormwater flows and
accompanying major infrastructure improvements is not anticipated. The ECR/C EIR concluded
that implementation of the Area Plan would result in less than significant impacts on the
capacity of stormwater drainage systems (South San Francisco 2011a, 2011b).
Future development would be subject to review and approval by the City Engineer and the
City's Stormwater Coordinator and would be 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. The SWPPP is required to include stormwater pollution control
devices and filters to be installed to prevent pollutants from entering the City’s storm drain
system and the San Francisco Bay. Water quality measures are required to be included in the
building permit packet. The ECR/C EIR concluded that with adherence to federal, state, and
local laws, policies and standards in the General Plan and Municipal Code, and with standard
development conditions, will ensure that impacts would be less than significant (South San
Francisco 2011b).
Subsequent Project Impacts
Construction
The project would include construction activities on the vacant parcels on the eastern project
site, which are near Colma Creek. These activities would alter the drainage pattern in the area.
Construction site stormwater runoff has the potential to contribute soil and pollutants from
equipment and materials handling to Colma Creek, which could affect water quality. The City’s
construction contractors would be required to implement a SWPPP and best management
practices in accordance with the Construction General Permit requirements, as described in the
certified ECR/C EIR. This would ensure construction activities would not violate water quality
standards or waste discharge requirements or otherwise degrade water quality. The project
would not result in any new or more severe impacts related to construction runoff, changes in
drainage patterns, erosion, and water quality impacts than previously identified. Impacts would
continue to be less than significant.
Operation
The new fire station that would replace the existing fire station would not result in an increase in
impervious surfaces that would be a new source of urban runoff which could contribute flows or
pollutants to Colma Creek. The currently vacant portion of the eastern project site was assumed
to be developed with buildings, sidewalks, paving, hardscaping, and other features that would
increase surface runoff, but plazas and landscaping that would help reduce runoff in that area
would also be a component of future design. The proposed project would result in a smaller
overall building footprint in Blocks D, E, F, and G compared to the approved ECR/C Area Plan
concept, which would reduce the amount of runoff from building rooftops compared to the
approved plan. In addition, the proposed project would include and emphasize outdoor use
areas, which provide greater opportunities for the creation of permeable surfaces, thus reducing
runoff.
While the proposed project would contribute stormwater flows to the City’s storm drain system, it
would not result in new increases not previously anticipated. New development on the project
site would be required to implement stormwater runoff reduction measures as directed under
Area Plan Policies UD-7 and DG-40, and as required under Municipal Code Chapter 14.04,
3.8 HYDROLOGY AND WATER QUALITY
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.8-9
Stormwater Management and Discharge Control, in compliance with the MRP Provision C.3 of
the San Mateo Countywide Water Pollution Prevention Program C.3 Stormwater Technical
Guidance Manual. As noted in the ECR/C Area Plan, an increase in stormwater flows and
accompanying major infrastructure improvements is not anticipated for the planning area. The
proposed project would not result in any new or more severe operational impacts related to
hydrology and water quality than previously identified. Impacts would continue to be less than
significant.
Mitigation Measures
None required.
3.8.5 CUMULATIVE SETTING, IMPACTS, AND MITIGATION MEASURES
CUMULATIVE SETTING
The ECR/C EIR defined the cumulative setting for the analysis of hydrology and water quality
impacts as development of the Area Plan through 2030 concurrent with development in the
region (South San Francisco 2011b).
CUMULATIVE IMPACTS AND MITIGATION MEASURES
Cumulative Stormwater Runoff and Water Quality
Impact 3.8.2 The proposed project, in combination with regional development, would
generate stormwater runoff discharges into Colma Creek, but the project’s
contribution to stormwater runoff and water quality impacts would be less
than cumulatively considerable.
2011 ECR/C Area Plan Impacts
The ECR/C EIR concluded that cumulative hydrology and water quality impacts would be
mitigated by existing regulations and/or Area Plan policies, resulting in less than significant
cumulative impacts (South San Francisco 2011b).
Subsequent Project Impacts
The proposed project would result in stormwater flows and urban runoff discharges to Colma
Creek. However, as explained in Impact 3.8.1, project flows would not be greater than previously
identified and would likely be reduced compared to the approved Area Plan because a lesser
amount of impervious surfaces would be created. These reductions would result from
implementation of design features required under Provision C.3 and Municipal Code Chapter
14.04, Stormwater Management and Discharge Control, and Area Plan policies. Construction
impacts would be site-specific and would be mitigated through the Construction General
Permit. The revised project’s contribution to stormwater runoff and water quality impacts would
be less than cumulatively considerable.
Mitigation Measures
None required.
3.8 HYDROLOGY AND WATER QUALITY
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.8-10
3.8.6 REFERENCES
C/CAG (City/County Association of Governments of San Mateo County). 2014. San Mateo
Countywide Water Pollution Prevention Program C.3 Stormwater Technical Guidance.
FEMA (Federal Emergency Management Agency). 2012. Flood Rate Insurance Map, Map
Number 06081C0041E. Effective Date October 16, 2012.
NOAA (National Oceanic and Atmospheric Administration). 2017. Sea Level Rise and Coastal
Flooding Impacts. https://coast.noaa.gov/slr/.
South San Francisco, City of. 2011a. El Camino Real/Chestnut Avenue Area Plan – General Plan
Amendment.
———. 2011b. City of South San Francisco El Camino Real/Chestnut Avenue Area Plan, and
associated General Plan Amendment, and Zoning Ordinance Amendment. Final
Environmental Impact Report.
———. 2014. South San Francisco General Plan.
3.9 – NOISE
3.9 NOISE
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.9 -1
This section describes the existing noise environment in the project area and the potential for the
project to result in noise impacts exceeding the applicable noise level criteria.
3.9.1 SEIR SUMMARY
A summary of the Community Civic Campus Project impact conclusions related to noise is
provided below.
Impact Number Impact Topic Impact Significance
3.9.1 Exceed noise standards or result in a permanent
or temporary increase in ambient noise levels Less than significant
3.9.2 Excessive groundborne vibration Less than significant
3.9.3 Excessive noise exposure (within 2 miles of a
public use airport or private airstrip) Less than significant
3.9.4 Cumulative noise impacts Less than cumulatively considerable
Impacts identified in the El Camino Real/Chestnut Avenue Area Plan Environmental Impact
Report (ECR/C EIR) are summarized with the project impacts in subsection 3.9.4.
3.9.2 EXISTING SETTING
ECR/C EIR AREA PLAN SETTING
The ECR/C EIR describes ambient noise levels at the project site as dominated by transportation
sources. Aircraft departures from San Francisco International Airport are the primary source of
transportation noise in the city. Other sources of noise include roadway noise. El Camino Real,
Chestnut Avenue, and Mission Road are the primary contributors. BART tracks also run parallel to
the planning area. Between the South San Francisco station and the San Bruno station (the
segment passing the planning area), the tracks are underground and therefore BART does not
contribute significantly to noise in the planning area.
PROPOSED PROJECT SETTING
The eastern project site is bordered by Chestnut Avenue and El Camino Real, and the western
project site is bordered by El Camino Real, Arroyo Drive, and Camaritas Avenue. The western
project site is separated from Westborough Boulevard by a strip mall. The primary noise source at
the project site is roadway noise from these streets. Noise levels are also impacted by aircraft
departures from San Francisco International Airport.
FUNDAMENTALS OF SOUND AND ENVIRONMENTAL NOISE
Acoustics is the science of sound. Sound may be thought of as mechanical energy of a
vibrating object transmitted by pressure waves through a medium to human (or animal) ears. If
the pressure variations occur frequently enough (at least 20 times per second), they can be
heard and are called sound. The number of pressure variations per second is called the
frequency of sound and is expressed as cycles per second, or hertz (Hz).
Noise is a subjective reaction to different types of sounds. Noise is typically defined as airborne
sound that is loud, unpleasant, unexpected, or undesired and may therefore be classified as a
more specific group of sounds. A typical noise environment consists of a base of steady
background noise that is the sum of many distant and indistinguishable noise sources.
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Draft SEIR
3.9 -2
Superimposed on this background noise is the sound from individual local sources. These sources
can vary from an occasional aircraft or train passing by to virtually continuous noise from, for
example, traffic on a major highway. Perceptions of sound and noise are highly subjective from
person to person.
The decibel scale is used to measure sound and it uses the hearing threshold (20 micropascals)
as a point of reference, defined as 0 dB. Other sound pressures are then compared to this
reference pressure, and the logarithm is taken to keep the numbers in a practical range. The
decibel scale allows a million-fold increase in pressure to be expressed as 120 dB, and changes
in levels (dB) correspond closely to human perception of relative loudness.
The perceived loudness of sounds is dependent on many factors, including sound pressure level
and frequency content. However, within the usual range of environmental noise levels,
perception of loudness is relatively predictable and can be approximated by A-weighted sound
levels. There is a strong correlation between A-weighted sound levels (expressed as dBA) and
the way the human ear perceives sound. For this reason, the A-weighted sound level has
become the standard tool of environmental noise assessment. All noise levels reported in this
section are in terms of A-weighted levels, but are expressed as dB, unless otherwise noted.
Addition of Decibels
The decibel scale is logarithmic, not linear, and therefore sound levels cannot be added or
subtracted through ordinary arithmetic. Two sound levels 10 dB apart differ in acoustic energy by
a factor of 10. When the standard logarithmic decibel is A-weighted, an increase of 10 dBA is
generally perceived as a doubling in loudness. For example, a 70 dBA sound is half as loud as an
80 dBA sound and twice as loud as a 60 dBA sound. When two identical sources are each
producing sound of the same loudness, the resulting sound level at a given distance would be
3 dB higher than one source under the same conditions (FTA 2006). Under the decibel scale,
three sources of equal loudness together would produce an increase of 5 dB.
Typical noise levels associated with common noise sources are depicted in Figure 3.9-1.
Sound Propagation and Attenuation
Sound spreads (propagates) uniformly outward in a spherical pattern, and the sound level
decreases (attenuates) at a rate of approximately 6 dB for each doubling of distance from a
stationary or point source. Sound from a line source, such as a highway, propagates outward in
a cylindrical pattern, often referred to as cylindrical spreading. Sound levels attenuate at a rate
of approximately 3 dB for each doubling of distance from a line source, such as a roadway,
depending on ground surface characteristics (FHWA 2011). No excess attenuation is assumed for
hard surfaces like a parking lot or a body of water. Soft surfaces, such as soft dirt or grass, can
absorb sound, so an excess ground-attenuation value of 1.5 dB per doubling of distance is
normally assumed. For line sources, an overall attenuation rate of 3 dB per doubling of distance
is assumed (FHWA 2011).
Noise levels may also be reduced by intervening structures; generally, a single row of buildings
between the receptor and the noise source reduces the noise level by about 5 dBA, while a
solid wall or berm reduces noise levels by 5 to 10 dBA (FHWA 2006). The manner in which older
homes in California were constructed generally provides a reduction of exterior-to-interior noise
levels of about 20 to 25 dBA with closed windows. The exterior-to-interior reduction of newer
residential units is generally 30 dBA or more.
3.9 NOISE
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.9 -3
FIGURE 3.9 -1
TYPICAL COMMUNITY NOISE LEVELS
Source: Caltrans 2012
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Community Civic Campus Project
Draft SEIR
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3.9 NOISE
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.9 -5
Noise Descriptors
The decibel scale alone does not adequately characterize how humans perceive noise. The
dominant frequencies of a sound have a substantial effect on the human response to that
sound. Several rating scales have been developed to analyze the adverse effect of community
noise on people. Because environmental noise fluctuates over time, these scales consider that
the effect of noise on people is largely dependent on the total acoustical energy content of the
noise, as well as the time of day when the noise occurs. The Leq is a measure of ambient noise,
while the Ldn and CNEL are measures of community noise. Each is applicable to this analysis and
defined in Table 3.9-1.
The A-weighted decibel sound level scale gives greater weight to the frequencies of sound to
which the human ear is most sensitive. Because sound levels can vary markedly over a short
period of time, a method for describing either the average character of the sound or the
statistical behavior of the variations must be utilized. Most commonly, environmental sounds are
described in terms of an average level that has the same acoustical energy as the summation
of all the time-varying events.
The scientific instrument used to measure noise is the sound level meter. Sound level meters can
accurately measure environmental noise levels to within about plus or minus 1 dBA. Various
computer models are used to predict environmental noise levels from sources, such as roadways
and airports. The accuracy of the predicted models depends on the distance between the
receptor and the noise source. Close to the noise source, the models are accurate to within
about plus or minus 1 to 2 dBA.
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Community Civic Campus Project
Draft SEIR
3.9 -6
TABLE 3.9 -1
DEFINITIONS OF ACOUSTICAL TERMS
1 Definition
Decibel, dB A unit describing the amplitude of sound, equal to 20 times the logarithm to the base 10
of the ratio of the pressure of the sound measured to the reference pressure. The reference
pressure for air is 20.
Sound Pressure Level Sound pressure is the sound force per unit area, usually expressed in micropascals (or 20
micronewtons per square meter), where 1 pascal is the pressure resulting from a force of 1
newton exerted over an area of 1 square meter. The sound pressure level is expressed in
decibels as 20 times the logarithm to the base 10 of the ratio between the pressures
exerted by the sound to a reference sound pressure (e.g., 20 micropascals). Sound
pressure level is the quantity that is directly measured by a sound level meter.
Frequency, Hz The number of complete pressure fluctuations per second above and below atmospheric
pressure. Normal human hearing is between 20 Hz and 20,000 Hz. Infrasonic sound are
below 20 Hz and ultrasonic sounds are above 20,000 Hz.
A-Weighted Sound Level,
dBA
The sound pressure level in decibels as measured on a sound level meter using the
A-weighting filter network. The A-weighting filter de-emphasizes the very low and very
high frequency components of the sound in a manner similar to the frequency response of
the human ear and correlates well with subjective reactions to noise.
Equivalent Noise Level,
Leq
The average acoustic energy content of noise for a stated period of time. Thus, the Leq of a
time-varying noise and that of a steady noise are the same if they deliver the same
acoustic energy to the ear during exposure. For evaluating community impacts, this rating
scale does not vary, regardless of whether the noise occurs during the day or the night.
Lmax, Lmin The maximum and minimum A-weighted noise level during the measurement period.
L01, L10, L50, L90 The A-weighted noise levels that are exceeded 1%, 10%, 50%, and 90% of the time
during the measurement period.
Day/Night Noise Level,
Ldn or DNL
A 24-hour average Leq with a 10 dBA “weighting” added to noise during the hours of
10:00 p.m. to 7:00 a.m. to account for noise sensitivity in the nighttime. The logarithmic
effect of these additions is that a 60 dBA 24-hour Leq would result in a measurement of
66.4 dBA Ldn.
Community Noise
Equivalent Level, CNEL
A 24-hour average Leq with a 5 dBA “weighting” during the hours of 7:00 p.m. to 10:00
p.m. and a 10 dBA “weighting” added to noise during the hours of 10:00 p.m. to 7:00
a.m. to account for noise sensitivity in the evening and nighttime, respectively. The
logarithmic effect of these additions is that a 60 dBA 24-hour Leq would result in a
measurement of 66.7 dBA CNEL.
Ambient Noise Level The composite of noise from all sources near and far. The normal or existing level of
environmental noise at a given location.
Intrusive That noise which intrudes over and above the existing ambient noise at a given location.
The relative intrusiveness of a sound depends on its amplitude, duration, frequency, and
time of occurrence and tonal or informational content as well as the prevailing ambient
noise level.
Human Response to Noise
The human response to environmental noise is subjective and varies considerably from individual
to individual. Noise in the community has often been cited as a health problem, not in terms of
actual physiological damage, such as hearing impairment, but in terms of inhibiting general
well-being and contributing to undue stress and annoyance. The health effects of noise in the
community arise from interference with human activities, including sleep, speech, recreation,
and tasks that demand concentration or coordination. Hearing loss can occur at the highest
noise intensity levels.
3.9 NOISE
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.9 -7
Noise environments and consequences of human activities are usually well represented by
median noise levels during the day or night or over a 24-hour period. Environmental noise levels
are generally considered low when the CNEL is below 60 dBA, moderate in the 60 to 70 dBA
range, and high above 70 dBA. Examples of low daytime levels are isolated, natural settings with
noise levels as low as 20 dBA and quiet, suburban, residential streets with noise levels around
40 dBA. Noise levels above 45 dBA at night can disrupt sleep. Examples of moderate-level noise
environments are urban residential or semi-commercial areas (typically 55 to 60 dBA) and
commercial locations (typically 60 dBA). People may consider louder environments adverse, but
most will accept the higher levels associated with noisier urban residential or residential-
commercial areas (60 to 75 dBA) or dense urban or industrial areas (65 to 80 dBA). Regarding
increases in A-weighted noise levels (dBA), the following relationships should be noted in
understanding this analysis:
Except in carefully controlled laboratory experiments, a change of 1 dBA cannot be
perceived by humans.
Outside of the laboratory, a 3 dBA change is considered a just-perceivable difference.
A change in level of at least 5 dBA is required before any noticeable change in
community response would be expected. An increase of 5 dBA is typically considered
substantial.
A 10 dBA change is subjectively heard as an approximate doubling in loudness and
would almost certainly cause an adverse change in community response.
Effects of Noise on People
Hearing Loss
While physical damage to the ear from an intense noise impulse is rare, a degradation of
auditory acuity can occur even in a community noise environment. Hearing loss occurs mainly
due to chronic exposure to excessive noise, but may be due to a single event such as an
explosion. Natural hearing loss associated with aging may also be accelerated by chronic
exposure to loud noise.
The Occupational Safety and Health Administration (OSHA) (2017) has a noise exposure
standard that is set at the noise threshold where hearing loss may occur from long-term
exposures. The maximum allowable level is 90 dBA averaged over 8 hours. If the noise is above
90 dBA, the allowable exposure time is correspondingly shorter.
Annoyance
Attitude surveys are used for measuring the annoyance felt in a community for noises intruding
into homes or affecting outdoor activity areas. In these surveys, it was determined that causes
for annoyance include interference with speech, radio and television, house vibrations, and
interference with sleep and rest. The Ldn as a measure of noise has been found to provide a valid
correlation of noise level and the percentage of people annoyed. People have been asked to
judge the annoyance caused by aircraft noise and ground transportation noise. There continues
to be disagreement about the relative annoyance of these different sources. For ground
vehicles, a noise level of about 55 dBA Ldn is the threshold at which a substantial percentage of
people begin to report annoyance.
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Community Civic Campus Project
Draft SEIR
3.9 -8
FUNDAMENTALS OF ENVIRONMENTAL GROUNDBORNE VIBRATION
Sources of earthborne vibrations include natural phenomena (earthquakes, volcanic eruptions,
sea waves, landslides, etc.) or man-made causes (explosions, machinery, traffic, trains,
construction equipment, etc.). Vibration sources may be continuous (e.g., factory machinery) or
transient (e.g., explosions).
Ground vibration consists of rapidly fluctuating motions or waves with an average motion of
zero. Several different methods are typically used to quantify vibration amplitude. One is the
peak particle velocity (PPV); another is the root mean square (RMS) velocity. The PPV is defined
as the maximum instantaneous positive or negative peak of the vibration wave. The RMS
velocity is defined as the average of the squared amplitude of the signal. The PPV and RMS
vibration velocity amplitudes are used to evaluate human response to vibration. For the
purposes of this analysis, a PPV descriptor with units of inches per second is used to evaluate
construction-generated vibration for building damage and human complaints.
Table 3.9-2 displays the reactions of people and the effects on buildings produced by
continuous vibration levels. The annoyance levels shown in the table should be interpreted with
care since vibration may be found to be annoying at much lower levels than those listed,
depending on the level of activity or the sensitivity of the individual. To sensitive individuals,
vibrations approaching the threshold of perception can be annoying. Low-level vibrations
frequently cause irritating secondary vibration, such as a slight rattling of windows, doors, or
stacked dishes. The rattling sound can give rise to exaggerated vibration complaints, even
though there is very little risk of actual structural damage. In high noise environments, which are
more prevalent where groundborne vibration approaches perceptible levels, this rattling
phenomenon may also be produced by loud airborne environmental noise causing induced
vibration in exterior doors and windows.
TABLE 3.9 -2
HUMAN REACTION AND DAMAGE TO BUILDINGS FOR CONTINUOUS OR FREQUENT INTERMITTENT VIBRATION LEVELS
Peak Particle Velocity
(inches/second) Human Reaction Effect on Buildings
0.006–0.019 Range of threshold of perception Vibrations unlikely to cause damage of any
type
0.08 Vibrations readily perceptible Recommended upper level to which ruins and
ancient monuments should be subjected
0.1 Level at which continuous vibrations may
begin to annoy people, particularly those
involved in vibration sensitive activities
Virtually no risk of architectural damage to
normal buildings
0.2 Vibrations may begin to annoy people in
buildings
Threshold at which there is a risk of
architectural damage to normal dwellings
0.4–0.6 Vibrations considered unpleasant by
people subjected to continuous vibrations
and unacceptable to some people walking
on bridges
Architectural damage and possibly minor
structural damage
Source: Caltrans 2004
3.9 NOISE
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.9 -9
NOISE-SENSITIVE RECEPTORS
Noise-sensitive land uses are those that may be subject to stress and/or interference from
excessive noise. Noise-sensitive land uses include public schools, hospitals, and institutional uses
such as churches, museums, and private schools. Typically, residential uses are also considered
noise-sensitive receptors. Industrial and commercial land uses are generally not considered
sensitive to noise.
The project site is located near several sensitive receptors. Residential uses are located
approximately 100 feet away from the western project site across Arroyo Drive. Residential uses
are located between the eastern project site and Colma Creek, adjacent to Antoinette Lane.
The closest school is the Urban Sprouts Preschool, located approximately 600 feet to the
northwest of the western project site. R.W Drake Preschool is also located approximately 900 feet
to the south of the eastern project site. A hospital, Kaiser Permanente of South San Francisco, is
located approximately 1,200 feet north of the project site.
EXISTING CONDITIONS
Existing Roadway Noise Levels
Existing roadway noise levels were calculated for the roadway segments in the project vicinity.
This task was accomplished using the Federal Highway Administration (FHWA) Highway Noise
Prediction Model (FHWA-RD-77-108) (Appendix NOI) and traffic volumes from the transportation
impact analysis prepared by Kimley-Horn (2017; Appendix TRA). The FHWA model calculates the
average noise level at specific locations based on traffic volumes, average speeds, roadway
geometry, and site environmental conditions. The average vehicle noise rates (energy rates) in
the FHWA model have been modified to reflect average vehicle noise rates identified for
California by the California Department of Transportation (Caltrans). The Caltrans data shows
that California automobile noise is 0.8 to 1.0 dBA higher than national levels and that medium
and heavy truck noise is 0.3 to 3.0 dBA lower than national levels. The average daily noise levels
along roadway segments in the project area are shown in Table 3.9-3.
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3.9 -10
TABLE 3.9-3
EXISTING TRAFFIC NOISE LEVELS
Roadway Segment
Existing Conditions
ADT
dBA @ 100
Feet from
Roadway
Centerline
Distance (feet) from Roadway
Centerline to:
60 CNEL
Noise
Contour
65 CNEL
Noise
Contour
70 CNEL
Noise
Contour
El Camino Real
Hickey Boulevard to McLellan Drive 24,084 63.5 172 80 —
McLellan Drive to Arroyo Drive 20,277 62.8 154 71 —
Arroyo Drive to Chestnut Avenue 22,500 63.2 165 76 —
Chestnut Avenue to Orange Avenue 30,951 64.6 204 95 —
Mission Road
Grand Avenue to Oak Avenue 5,940 54.1 — — —
Oak Avenue to Chestnut Avenue 6,966 54.8 45 — —
Chestnut Avenue/Westborough Boulevard
Grand Avenue to Mission Road 12,609 57.3 66 — —
Mission Road to El Camino Real 19,332 63.7 176 82 —
El Camino Real to Junipero Serra Boulevard 24,615 64.7 207 96 —
Source: Based on traffic data within the transportation impact analysis prepared by Kimley-Horn (2017). Refer to Appendix NOI for
traffic noise modeling assumptions and results.
Notes: ADT = average daily trips; dBA = A-weighted decibels; CNEL = community noise equivalent level
As shown, the existing traffic-generated noise level on project-vicinity roadways currently ranges
from 54.1 to 64.7 dBA CNEL. As previously described, CNEL is the 24-hour average noise level with
a 5 dBA “weighting” during the hours of 7:00 p.m. to 10:00 p.m. and a 10 dBA “weighting” during
the hours of 10:00 p.m. to 7:00 a.m. to account for noise sensitivity in the evening and nighttime,
respectively.
3.9.3 REGULATORY FRAMEWORK
FEDERAL
US Department of Housing and Urban Development
The US Department of Housing and Urban Development (HUD) environmental criteria and
standards are presented in 24 Code of Federal Regulations (CFR) Part 51. New residential
construction qualifying for HUD financing proposed in high noise areas (exceeding 65 dBA Ldn)
must incorporate noise attenuation features to maintain acceptable interior noise levels. A goal
of 45 dBA Ldn is set for interior noise levels, and attenuation requirements are geared toward
achieving that goal. It is assumed that with standard construction any building will provide
sufficient attenuation to achieve an interior level of 45 dBA Ldn or less if the exterior level is 65 dBA
Ldn or less. Approvals in a normally unacceptable noise zone (exceeding 65 decibels but not
exceeding 75 decibels) require a minimum of 5 decibels of additional noise attenuation for
3.9 NOISE
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.9 -11
buildings if the day-night average is greater than 65 decibels but does not exceed 70 decibels,
or a minimum of 10 decibels of additional noise attenuation if the day-night average is greater
than 70 decibels but does not exceed 75 decibels.
Federal Aviation Act of 1958
The Federal Aviation Act of 1958 created the Federal Aviation Agency. When the agency
became a part of the US Department of Transportation in 1967, it adopted its present name of
Federal Aviation Administration (FAA). Among other responsibilities, the FAA is in charge of
developing and carrying out programs to control aircraft noise and other environmental effects
of civil aviation.
Federal Aviation Administration Airport Improvement Program
The Airport Improvement Program (AlP) provides grants to public agencies—and, in some cases,
to private owners and entities—for the planning and development of public-use airports that are
included in the National Plan of Integrated Airport Systems. When airport owners or sponsors,
planning agencies, or other organizations accept funds from FAA-administered airport financial
assistance programs, they must agree to certain obligations (or assurances). These obligations
require the recipients to maintain and operate their facilities safely and efficiently and in
accordance with specified conditions. The assurances appear either in the application for federal
assistance and become part of the final grant offer or in restrictive covenants to property deeds.
The duration of these obligations depends on the type of recipient, the useful life of the facility
being developed, and other conditions stipulated in the assurances. The City of South San
Francisco currently runs an Aircraft Noise Insulation Program with its AlP grant. South San
Francisco’s assurances include taking “appropriate action, including adoption of zoning laws, to
the extent reasonable, to restrict use of land adjacent to or in the immediate vicinity of the Airport
to activities and purposes compatible with normal Airport operations, including landing and
takeoff of aircraft” and “maintaining zoning and land uses within its jurisdiction that would not
reduce the compatibility of the Airport or federally financed noise compatibility measures.”
STATE
California Noise Control Act of 1973
Sections 46000 through 46080 of the California Health and Safety Code, known as the California
Noise Control Act, find that excessive noise is a serious hazard to public health and welfare and
that exposure to certain levels of noise can result in physiological, psychological, and economic
damage. The act also finds that there is a continuous and increasing bombardment of noise in
urban, suburban, and rural areas. The California Noise Control Act declares that the State of
California has a responsibility to protect the health and welfare of its citizens by the control,
prevention, and abatement of noise. It is the policy of the state to provide an environment for all
Californians that is free from noise which jeopardizes their health or welfare.
California Noise Insulation Standards (CCR Title 24, Part 2, Chapter 2-35)
In 1974, the California Commission on Housing and Community Development adopted noise
insulation standards for multi-family residential buildings (Title 24, Part 2, California Code of
Regulations). Title 24 establishes standards for interior room noise (attributable to outside noise
sources). The regulations also specify that acoustical studies must be prepared whenever a
multi-family residential building or structure is proposed to be located near an existing or
adopted freeway route, expressway, parkway, major street, thoroughfare, rail line, rapid transit
3.9 NOISE
Community Civic Campus Project
Draft SEIR
3.9 -12
line, or industrial noise source, and where such noise source or sources create an exterior CNEL
(or Ldn) of 60 dBA or greater. Such acoustical analysis must demonstrate that the residence has
been designed to limit intruding noise to an interior CNEL (or Ldn) of at least 45 dBA.
LOCAL
Comprehensive Airport Land Use Compatibility Plan
In San Mateo County, the City/County Association of Governments of San Mateo County
(C/CAG) is the designated Airport Land Use Commission. C/CAG (2012) developed and
implements the Comprehensive Airport Land Use Plan for the Environs of San Francisco
International Airport, which establishes the procedures that C/CAG uses in reviewing proposed
local agency actions which affect land use decisions in the vicinity of the county’s airports.
Airport planning boundaries define where height, noise, and safety standards, policies, and
criteria are applied to certain proposed land use policy actions.
City of South San Francisco General Plan
The City’s General Plan contains Land Use and Noise Elements, among others. These elements
include policies to reduce noise impacts in the city. Table 3.9-4 lists the Comprehensive Airport
Land Use Plan noise/land use compatibility standards that have been adopted by the City of
South San Francisco.
TABLE 3.9-4
LAND USE CRITERIA FOR NOISE-IMPACTED AREAS
Land Use CNEL Range General Land Use Criteria
Residential and other noise
sensitive uses (e.g.,
schools, hospitals, and
churches)
Less than 65 Satisfactory; no special insulation requirements
65 to 70 Development requires analysis of noise reduction requirements and
noise insulation as needed
Over 70 Development should not be undertaken
Commercial Less than 70 Satisfactory; no special insulation requirements
70 to 80 Development requires analysis of noise reduction requirements and
noise insulation as needed
Over 80 Airport-related development only; special noise insulation should
be provided
Industrial Less than 75 Satisfactory; no special insulation requirements
75 to 85 Development requires analysis of noise reduction requirements and
noise insulation as needed
Over 85 Airport-related development only; special noise insulation should
be provided
Open Less than 75 Satisfactory; no special insulation requirements
Over 75 Avoid uses involving concentrations of people or animals
Source: South San Francisco 2014
3.9 NOISE
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.9 -13
Other relevant policies in the General Plan are listed below.
Chapter 2: Land Use
2-I-22 Require that all future development conforms to the relevant height, aircraft noise,
and safety policies and compatibility criteria contained in to the most recently
adopted version of the San Mateo County Comprehensive Airport Land Use Plan
for the environs of San Francisco International Airport.
Chapter 9: Noise
9-G-l Protect public health and welfare by eliminating or minimizing the effects of
existing noise problems, and by preventing increased noise levels in the future.
9-G-2 Continue efforts to incorporate noise considerations into land use planning
decisions, and guide the location and design of transportation facilities to minimize
the effects of noise on adjacent land uses.
9-I-1 Work to adopt a pass-by (single event) noise standard to supplement the current
65 dB CNEL average noise level standard as the basis for aircraft noise abatement
programs.
9-I-2 Work to adopt a lower average noise standard for aircraft-based mitigation and
land use controls.
9-I-3 Pursue additional funding sources and programs for the noise insulation retrofit of
homes not completed before the expiration of the Memorandum of
Understanding in 2000.
9-I-4 Ensure that project applications for all new noise-sensitive land uses (plans and
specifications), including hospitals and residential units proposed within the CNEL
60 dB to CNEL 69 dB aircraft noise contour include an acoustical study, prepared
by a professional acoustic engineer, that specifies the appropriate noise
mitigation features to be included in the design and construction of these uses, to
achieve an interior noise level of not more than CNEL 45 dB in any habitable room,
based on the latest official SFIA noise contours and on-site measurement data.
9-I-5 Ensure that project applications for new noise-sensitive land uses (plans and
specifications), including schools and places of assembly, proposed within the
CNEL 60 dB to CNEL 69 dB aircraft noise contour include an acoustical study,
prepared by a professional acoustic engineer, that specifies the appropriate noise
mitigation features to be included in the design and construction of these uses, to
achieve an interior noise level of not more than Leq 45 dB for the noisiest hour of
normal facility operation.
9-I-6 Require that applicants for new noise-sensitive development in areas subject to
noise generators producing noise levels greater than 65 dB CNEL, obtain the
services of a professional acoustical engineer to provide a technical analysis and
design of mitigation measures.
9-I-7 Where site conditions permit, require noise buffering for all noise-sensitive
development subject to noise generators producing noise levels greater than 65
3.9 NOISE
Community Civic Campus Project
Draft SEIR
3.9 -14
dB CNEL. This noise attenuation method should avoid the use of visible sound walls,
where practical.
9-I-8 Require the control of noise at source through site design, building design,
landscaping, hours of operation, and other techniques, for new developments
deemed to be noise generators.
City of South San Francisco Municipal Code
The South San Francisco Municipal Code also contains provisions to reduce the impact of noise
on city residents.
Title 8, Health and Welfare
Section 8.32.050, Special provisions
d. Construction. Construction, alteration, repair or landscape maintenance activities which
are authorized by a valid city permit shall be allowed on weekdays between the hours of
8 a.m. and 8 p.m., on Saturdays between the hours of 9 a.m. and 8 p.m., and on Sundays
and holidays between the hours of 10 a.m. and 6 p.m., or at such other hours as may be
authorized by the permit, if they meet at least one of the following noise limitations:
1. No individual piece of equipment shall produce a noise level exceeding 90 dB at a
distance of 25 feet. If the device is housed within a structure or trailer on the property,
the measurement shall be made outside the structure at a distance as close to 25
feet from the equipment as possible.
2. The noise level at any point outside of the property plane of the project shall not
exceed 90 dB.
Title 20, Zoning
Division IV, Part I, Section 20.300.010, Performance Standards
E. Noise
1) Noise Attenuation Measures. Noise attenuation measures identified in an acoustic
study shall be incorporated into the project to reduce noise impacts to satisfactory
levels.
2) Maximum Acceptable Interior Noise Levels. New noise-sensitive uses (e.g. schools,
hospitals, churches, and residences) shall incorporate noise attenuation measures to
achieve and maintain and interior noise level of CNEL 45 dB.
3) Residential Interior Noise Level Reduction. New dwellings exposed to CNEL above 65
dB shall incorporate the following noise reduction design measures unless alternative
designs that achieve and maintain an interior noise level of CNEL 45 dB are
incorporated and verified by a Board Certified Acoustical Engineer.
a. All façades must be constructed with substantial weight and insulation;
3.9 NOISE
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.9 -15
b. Sound-rated windows providing noise reduction performance similar to that of
the façade must be included for habitable rooms;
c. Sound-rated doors or storm doors providing noise reduction performance similar
to that of the façade must be included for all exterior entries;
d. Acoustic baffling of vents is required for chimneys, fans, and gable ends;
e. Installation of a mechanical ventilation system affording comfort under closed-
window conditions; and
f. Double-stud construction, double doors, and heavy roofs with ceilings of two
layers of gypsum board on resilient channels.
4) Vibration. No vibration shall be produced that is transmitted through the ground and
is discernible without the aid of instruments by a reasonable person at the lot lines of
the site. Vibrations from temporary construction, demolition, and vehicles that enter
and leave the subject parcel (e.g., construction equipment, trains, trucks, etc.) are
exempt from this standard.
The Airport/Community Roundtable
The Airport/Community Roundtable is a voluntary committee of elected representatives from 45
municipalities near San Francisco International Airport, established in 1981 to address community
noise impacts from aircraft operations at the airport. The roundtable monitors a performance-
based noise mitigation program implemented by airport staff, interprets community concerns,
and attempts to achieve noise mitigation through a cooperative sharing of authority among the
aviation industry, the Federal Aviation Administration, airport management, and local
government.
Residential Sound Insulation Program
The home insulation program at San Francisco International Airport began in 1983, treating
homes, churches, and schools in San Mateo County, Daly City, Millbrae, Pacifica, San Bruno,
and South San Francisco. The program is administered directly by the local jurisdictions but
funded through a combination of FAA and airport funds distributed through the airport. FAA
guidelines set the standard for eligibility for the use of federal funds to insulate residences; noise-
sensitive properties within the federally approved CNEL 65 dB annual noise contour are eligible.
3.9.4 IMPACTS AND MITIGATION MEASURES
STANDARDS OF SIGNIFICANCE
The impact analysis provided below is based on the application of the CEQA Guidelines
Appendix G thresholds of significance. A project is considered to have significant impacts if
implementation of the project would result in:
1) Exposure of persons to, or generation of, noise levels in excess of standards
established in the local general plan or noise ordinance, or of applicable standards
of other agencies.
3.9 NOISE
Community Civic Campus Project
Draft SEIR
3.9 -16
2) Exposure of persons to or generation of excessive groundborne vibration or groundborne
noise levels.
3) A substantial permanent increase in ambient noise levels in the project vicinity above
levels existing without the project.
4) A substantial temporary or periodic increase in ambient noise levels in the project vicinity
above levels existing without the project.
5) For a project located within an airport land use plan area or, where such a plan has not
been adopted, within 2 miles of a public airport or a public use airport, exposure of
people residing or working in the project area to excessive noise levels.
6) For a project in the vicinity of a private airstrip, exposure of people residing or working in
the project area to excessive noise levels.
Changes in the CEQA Guidelines
The CEQA Guidelines have not been updated in regard to noise since preparation of the ECR/C EIR.
METHODOLOGY
The following qualitative impact analysis is based on a review of the analysis completed in the
project area for the ECR/C EIR. The impact analysis focuses on whether noise generated by the
proposed project would have a significant impact on the physical environment and whether the
project would expose sensitive receptors to significant noise levels.
PROJECT IMPACTS AND MITIGATION MEASURES
Exceed Noise Standards or Result in a Permanent or Temporary Increase in Ambient Noise Levels
(Standards of Significance 1, 3, and 4)
Impact 3.9.1 Noise generation during construction and operations would not exceed
standards, nor would it result in an increase in ambient noise levels. This
impact would be less than significant.
2011 ECR/C Area Plan Impacts
The ECR/C EIR concluded that construction activities associated with the project could
substantially increase ambient noise levels at noise-sensitive locations, which could result in
potentially significant, but temporary, impacts to sensitive receptors. However, compliance with
the limitations on construction activity and associated noise standards established in Title 8 of the
South San Francisco Municipal Code, including limiting the hours during which such construction
activity may occur, would ensure that construction noise impacts are less than significant (South
San Francisco 2011b, p. 3.5-15).
The ECR/C EIR concluded that the plan could increase noise over existing conditions due to
traffic volume increases. Noise was calculated to increase by less than 3 dB over existing
conditions by 2030. This increase would not be noticeable, and therefore the impact would be
less than significant (San Francisco 2011b, p. 3.5-16).
3.9 NOISE
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.9 -17
Subsequent Project Impacts
Construction Noise
Construction noise typically occurs intermittently and varies depending on the nature or phase
of construction (e.g., land clearing, grading, excavation, paving). Noise generated by
construction equipment, including earth movers, material handlers, and portable generators,
can reach high levels. Typical operating cycles for these types of construction equipment may
involve 1 or 2 minutes of full power operation followed by 3 to 4 minutes at lower power settings.
Other primary sources of acoustical disturbance would be random incidents, which would last
less than 1 minute (such as dropping large pieces of equipment or the hydraulic movement of
machinery lifts).
Typical noise levels associated with individual construction equipment are listed in Table 3.9-5.
TABLE 3.9-5
TYPICAL CONSTRUCTION NOISE LEVELS
Equipment
Typical Noise Level (dBA)
at 50 Feet from Source
Lmax Leq
Air Compressor 80 76
Backhoe/Front End Loader 80 76
Compactor (ground) 80 73
Concrete Mixer Truck 85 81
Concrete Mixer (vibratory) 80 73
Concrete Pump Truck 82 75
Concrete Saw 90 83
Crane 85 77
Dozer/Grader/Excavator/Scraper 85 81
Drill Rig Truck 84 77
Generator 82 79
Gradall 85 81
Hydraulic Break Ram 90 80
Jackhammer 85 78
Impact Hammer/Hoe Ram (mounted) 90 83
Pavement Scarifier/Roller 85 78
Paver 85 82
Pneumatic Tools 85 82
Pumps 77 74
Truck (dump/flat bed) 84 80
Source: FTA 2006
3.9 NOISE
Community Civic Campus Project
Draft SEIR
3.9 -18
In conformance with Section 8.32.050 of the City’s Municipal Code, construction activities would
be restricted to the hours between 8 a.m. and 8 p.m. on weekdays, between 9 a.m. and 8 p.m.
on Saturdays, and between 10 a.m. and 6 p.m. on Sundays and holidays. Additionally, a valid
City permit may authorize construction to occur at other hours if it meets certain noise limitations
defined in the Municipal Code section.
As shown in Table 3.9-5, the loudest piece of equipment will reach maximum noise levels of
90 dBA at 50 feet from the source. Since construction noise levels drop off at a rate of about
6 dBA per doubling of distance between the noise source and receptor, the loudest piece of
equipment will reach maximum noise levels of 84 dBA at 25 feet from the source. Therefore, no
individual piece of equipment will produce a noise level exceeding 90 dB at a distance of
25 feet. Since project construction would not exceed City standards, there would be no
substantial temporary or periodic increase in ambient noise levels. Therefore, the revised
project’s impact would continue to be less than significant.
Operational Noise
Fire Station
A portion of the existing Municipal Services Building would be demolished to accommodate the
construction of a new 7,250-square-foot fire station, which would be located in the site’s west
corner. Interior spaces would include a drive-through bay for fire engines, a turnout and
decontamination area, office space, and living quarters. The new fire station would replace the
existing fire station in the Municipal Services Building and would have similar hours. Therefore,
there would not be a significant increase in noise levels over existing conditions and the revised
project would continue to have a less than significant impact on ambient noise levels due to fire
station operations.
Future development generated by the proposed project would result in additional traffic on
adjacent roadways, thereby increasing vehicular noise in the vicinity of existing and proposed
land uses. The Future without Project and Future with Project scenarios are compared in Table
3.9-6. As depicted in Table 3.9-6, under the Future without Project scenario, noise levels would
range from approximately 55.7 dBA to 66.3 dBA, with the highest noise levels occurring along
Chestnut Avenue/Westborough Boulevard (from El Camino Real to Junipero Serra Boulevard).
The Future with Project scenario noise levels would range from approximately 56.4 dBA to 66.4
dBA, with the highest noise levels occurring along the same roadway segment.
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3.9 NOISE
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.9 -21
Library
Per the City’s General Plan, development requires analysis of noise reduction requirements and
noise insulation as needed for residential and other noise-sensitive uses (e.g., schools, hospitals,
and churches) when the CNEL is between 65 and 70 dBA. Since the proposed library will be
located at Chestnut Avenue and El Camino Real (64.8 to 66.3 dBA), it is in an area where the
CNEL is between 65 and 70 dBA. However, with closed windows in good condition, the noise
attenuation factor is around 20 dBA for an older structure and 25 dBA for a newer building.
Therefore, the library’s interior noise levels will be around 40–45 dBA. This noise level is in
conformance with Municipal Code Section 20.300.010, which requires that new noise-sensitive
uses (e.g., schools, hospitals, churches, and residences) incorporate noise attenuation measures
to achieve and maintain and interior noise level of CNEL 45 dB. Therefore, the revised project
would continue to have a less than significant impact.
Traffic
As shown in Table 3.9-6, increases in vehicular traffic would result in a maximum increase of
0.7 dBA in the project area. To determine whether there would be a substantial permanent
increase in ambient noise levels, this analysis uses a 3 dBA increase as a threshold, which is
considered a just-perceivable difference. Since the proposed project would not increase noise
levels above 3 dBA along the roadway segments analyzed, the revised project would continue
to have a less than significant impact.
Parking
The project would accommodate parking on-site. Traffic associated with parking lots is typically
not of sufficient volume to exceed community noise standards, which are based on a time-
averaged scale such as the CNEL scale. Therefore, parking lot noise associated with the
proposed project would be contained. The revised project would have no impact due to
parking noise.
Mitigation Measures
None required.
Exposure of Persons to or Generation of Excessive Groundborne Vibration or Groundborne Noise
Levels (Standards of Significance 2)
Impact 3.9.2 Project construction would not expose persons to groundborne vibration or
noise levels. This impact would be less than significant.
2011 ECR/C Area Plan Impacts
Development under the proposed Area Plan would adhere to Municipal Code Section
20.300.010, which establishes performance standards regarding groundborne vibrations. No new
industrial activities are anticipated and there are no railroad activities in the Planning Area,
though vibration could be created through construction. The ECR/C EIR found that subsequent
CEQA analysis and documentation for individual projects would have project -specific data and
will be required to mitigate any potential construction/operations-related vibration, which would
reduce noise impacts to a less than significant level (South San Francisco 2011b, p. 3.5-19).
3.9 NOISE
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.9 -22
Subsequent Project Impacts
Project construction would have the potential to result in varying degrees of temporary
groundborne vibration, depending on the specific construction equipment used and the
operations involved. Vibration generated by construction equipment spreads through the
ground and diminishes in magnitude with increases in distance. As stated in Municipal Code
Section 20.300.010, vibrations from temporary construction, demolition, and vehicles that enter
and leave the parcel under construction are exempt from vibration standards. Once
operational, the project would not be a source of groundborne vibration. This impact would
continue to be less than significant.
Mitigation Measures
None required.
Within 2 Miles of a Public Airport or Private Airstrip or Land Use Plan Area, Exposure of Persons
to Excessive Noise (Standards of Significance 5 and 6)
Impact 3.9.3 The project is not located near a private airstrip and is outside any noise
impact zones for San Francisco International Airport. The project would have
no impact.
2011 ECR/C Area Plan impacts
Under the San Francisco International Comprehensive Airport Land Use Plan, the 2001 Noise
Exposure Map (NEM) is the most recent federally accepted NEM and is the noise contour map
that C/CAG uses in making its determination of the consistency of a proposed local agency
land use policy action with the plan. A small portion of the Planning Area in the southwest is
located between the 2001 CNEL 60 dB and CNEL 65 dB noise contours (i.e., noise levels are
between CNEL 60 dB and CNEL 65 dB). No noise/land use compatibility standards apply within
these noise contours ((South San Francisco 2011b, p. 3.5-10). Therefore, plan implementation
would have no impact.
Subsequent Project Impacts
As analyzed in the ECR/C EIR, there are no private airports in the vicinity of the project site. The
project site is located approximately 2.6 miles northwest of San Francisco International Airport. A
review of the Comprehensive Airport Land Use Plan for the Environs of San Francisco
International Airport (C/CAG 2012) shows the project site located outside of any noise impact
zones. Therefore, the revised project would continue to have no impact.
Mitigation Measures
None required.
3.9 NOISE
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.9 -23
3.9.5 CUMULATIVE SETTING, IMPACTS, AND MITIGATION MEASURES
CUMULATIVE SETTING
The geographic extent of the cumulative setting for noise consists of the project site and vicinity.
Ambient noise levels in the project area are primarily affected by vehicle traffic on nearby area
roadways. As a result, the primary factor for cumulative noise impact analysis is the
consideration of future noise typically associated with vehicle traffic.
CUMULATIVE IMPACTS AND MITIGATION MEASURES
Cumulative Noise Impacts
Impact 3.9.4 Project operation would not result in a substantial contribution to cumulative
noise levels. This impact would be considered less than cumulatively
considerable.
2011 ECR/C Area Plan Impacts
The ECR/C Area Plan concluded that by its nature, the noise analysis presented in the noise
chapter (and summarized above) represents a cumulative analysis of noise conditions through
2030. The ECR/C EIR found the plans contribution to be less than cumulative considerable
because the increase in noise elves associated with the plan was less than 3 dB compared to
existing conditions (South San Francisco 2011b, p. 5-5).
Subsequent Project Impacts
Cumulative noise impacts would occur primarily as a result of increased traffic on local
roadways due to buildout of the proposed project and other projects in the vicinity. A project’s
contribution to a cumulative traffic noise increase would be considered significant when the
combined effect exceeds the perception level (i.e., auditory level increase) threshold. The
combined effect compares the cumulative with project condition to existing conditions. This
comparison accounts for the traffic noise increase generated by the project combined with the
traffic noise increase generated by projects in the cumulative project list. The following criteria
were used to evaluate the combined effect of the cumulative noise increase.
Combined Effect. The cumulative with project noise level (Future with Project) would
cause a significant cumulative impact if a 3.0 dB increase over existing conditions occurs
and the resulting noise level exceeds the applicable exterior standard at a sensitive use.
Although there may be a significant noise increase due to the proposed project in
combination with other related projects (combined effects), it must also be
demonstrated that the project has an incremental effect. In other words, a significant
portion of the noise increase must be due to the proposed project.
Incremental Effects. The Future with Project causes a 1.0 dBA increase in noise over the
Future without Project noise level.
A significant impact would result only if both the combined and incremental effects criteria
have been exceeded. Noise by definition is a localized phenomenon, and it reduces as
distance from the source increases. Consequently, only the proposed project and growth due to
occur in the project site’s general vicinity would contribute to cumulative noise impacts. Table
3.9-7 lists the traffic noise effects along roadway segments in the project vicinity for existing,
Future without Project, and Future with Project conditions, including incremental and net
cumulative impacts.
3.9 NOISE
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.9 -24
TABLE 3.9-7
CUMULATIVE NOISE SCENARIO
Roadway Segment
Existing
Future
without
Project
Future with
Project
Combined
Effects
Incremental
Effects
Cumulatively
Significant
Impact? dBA @ 100
Feet from
Roadway
Centerline
dBA @ 100
Feet from
Roadway
Centerline
dBA @ 100
Feet from
Roadway
Centerline
Difference in
dBA Between
Existing and
Future with
Project
Difference in
dBA Between
Future without
Project and
Future with
Project
El Camino Real
Hickey Blvd to McLellan Dr 63.5 65.0 65.5 2 0.5 No
McLellan Dr to Arroyo Dr 62.8 64.3 64.7 1.9 0.4 No
Arroyo Dr to Chestnut Ave 63.2 64.8 65.1 1.9 0.3 No
Chestnut Ave to Orange Ave 64.6 66.1 66.3 1.7 0.2 No
Mission Road
Grand Ave to Oak Ave 54.1 55.7 56.4 2.3 0.7 No
Oak Ave to Chestnut Ave 54.8 56.0 56.5 1.7 0.5 No
Chestnut Avenue/Westborough Boulevard
Grand Ave to Mission Rd 57.3 58.8 58.9 1.6 0.1
Mission Rd to El Camino
Real 63.7 65.2 65.5 1.8 0.3 No
El Camino Real to Junipero
Serra Blvd 64.7 66.3 66.4 1.7 0.1 No
Source: Noise modeling is based on traffic data within the transportation impact analysis prepared by Kimley-Horn (2017). Refer to
Appendix NOI for traffic noise modeling assumptions and results.
Notes: ADT = average daily traffic; dBA = A-weighted decibels; CNEL = community noise equivalent level
As indicated in Table 3.9-7, the proposed project would not result in long-term mobile noise
impacts based on project-generated traffic as well as cumulative and incremental noise levels.
None of the roadway segments would exceed both the Incremental Effects and Combined
Effects criteria; thus, none of the roadway segments would be significantly impacted. Therefore,
the revised project in combination with cumulative background traffic noise levels would
continue to result in a less than cumulatively considerable noise impact.
Mitigation Measures
None required.
3.9 NOISE
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.9 -25
3.9.6 REFERENCES
Caltrans (California Department of Transportation). 2004. Transportation- and Construction-
Induced Vibration Guidance Manual.
———. 2012. IS/EA Annotated Outline.
http://www.dot.ca.gov/ser/vol1/sec4/ch31ea/chap31ea.htm.
C/CAG (City/County Association of Governments of San Mateo County). 2012. Comprehensive
Airport Land Use Plan for the Environs of San Francisco International Airport.
FHWA (Federal Highway Administration). 2006. Roadway Construction Noise Model User’s Guide
Final Report.
———. 2011. Effective Noise Control During Nighttime Construction.
http://ops.fhwa.dot.gov/wz/workshops/accessible/schexnayder_paper.htm.
FTA (Federal Transit Administration). 2006. Transit Noise and Vibration Impact Assessment.
Kimley-Horn. 2017. Transportation Impact Analysis, El Camino Real/Chestnut Avenue Area Plan
Update.
OSHA (Occupational Safety and Health Administration). 2017. Occupational Noise Exposure.
https://www.osha.gov/SLTC/noisehearingconservation/.
San Mateo, County of. 2012. Comprehensive Airport Land Use Plan for the Environs of San
Francisco International Airport.
South San Francisco, City of. 2011a. El Camino Real/Chestnut Avenue Area Plan – General Plan
Amendment.
———. 2011b. City of South San Francisco El Camino Real/Chestnut Avenue Area Plan, and
associated General Plan Amendment, and Zoning Ordinance Amendment. Final
Environmental Impact Report.
———. 2014. South San Francisco General Plan.
3.9 NOISE
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.9 -26
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3.10 – TRANSPORTATION AND
CIRCULATION
3.10 TRANSPORTATION AND CIRCULATION
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.10-1
This section evaluates project traffic impacts on intersections, freeway facilities, bicycle,
pedestrian, and transit facilities, vehicle miles traveled, and design hazards in the project area. A
transportation impact analysis (TIA) was prepared for the project by Kimley-Horn and Associates
(2017) and is included in Appendix TRA in this Draft SEIR. This section summarizes the analysis in
the Kimley Horn report.
Impacts to the surrounding transportation system as a result of the project were evaluated in
accordance with the standards set forth by the City of South San Francisco and the California
Department of Transportation (Caltrans). Baseline conditions are based on existing conditions.
3.10.1 SEIR SUMMARY TABLE
A summary of the project impacts on transportation and circulation is provided below.
Impact Number Impact Topic Impact Significance
3.10.1
Cause a substantial increase in traffic load, or
conflict with an applicable congestion
management program
Less than significant with mitigation
3.10.2 Result in a change in air traffic patterns Less than significant
3.10.3 Increase hazards due to a design feature Less than significant
3.10.4 Result in inadequate emergency access Less than significant
3.10.5
Conflict with adopted policies, plans, or programs
regarding public transit, bicycle, or pedestrian
facilities
Less than significant
3.10.6 Cumulative traffic impacts Less than cumulatively considerable with
mitigation
Impacts identified in the El Camino Real/Chestnut Avenue Area Plan Environmental Impact
Report (ECR/C EIR) are summarized with the project impacts in subsection 3.10.4.
3.10.2 E XISTING SETTING
ECR/C AREA PLAN SETTING
The ECR/C Area Plan consists of 98 acres of developed land along El Camino Real in South San
Francisco. Regional access to the planning area is via several regional highways, including
Interstate 280 (I-280), Interstate 380 (I-380), and US Highway 101 (US 101). Local access to the
planning area is via arterials, collectors, and local streets in South San Francisco. El Camino Real
(State Route [SR] 82), Mission Road, Westborough Boulevard/Chestnut Avenue, Arroyo Drive,
Camaritas Avenue, and Oak Avenue are the major streets providing access to and within the
planning area.
Transit services in the planning area are provided by the Bay Area Rapid Transit (BART) system,
the San Mateo County Transit District (SamTrans), and Caltrain. BART provides heavy rail access
both to the south and north of the city. SamTrans runs fixed-route buses. Caltrain is a commuter
rail system connecting Gilroy to San Francisco, with a station located approximately 2 miles from
the planning area.
3.10 TRANSPORTATION AND CIRCULATION
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.10-2
PROJECT SITE SETTING
The circulation system serving South San Francisco consists of roadways, bicycle and pedestrian
facilities, and the public transit system. Major transportation facilities, travel characteristics, and
existing travel conditions in the surrounding area are described below. This information is
summarized from the project-specific 2017 transportation impact analysis prepared by Kimley
Horn (Appendix TRA).
EXISTING ROADWAY NETWORK
Regional access to the project site is via several regional highways, including I-280, I-380, and US
101. Local access to the site is via El Camino Real, Mission Road, Westborough
Boulevard/Chestnut Avenue, Arroyo Drive, Camaritas Avenue, and Oak Avenue. The roads are
classified as follows:
El Camino Real is a six-lane major arterial with a raised, landscaped median.
Mission Road is a four-lane minor arterial with no median or center turn lane, except from
Oak Avenue to Chestnut Avenue.
Westborough Boulevard/Chestnut Avenue is a four-lane major arterial.
Arroyo Drive is a two-lane collector.
Camaritas Avenue is classified as an “other street” in the City’s General Plan and is four
lanes between Arroyo Drive and Westborough Road.
Oak Avenue is a two-lane collector.
EXISTING PEDESTRIAN NETWORK
Most roads near the project site have Americans with Disabilities Act compliant pedestrian
sidewalks, and most signalized intersections have pedestrian crossings.
The Centennial Way Trail is a multi-use bicycle and pedestrian path that passes through South
San Francisco and near the project site. There are several gaps in the sidewalk network, with the
largest on the west side of El Camino Real from the BART access road to north of Arroyo Drive.
Mission Road also lacks a sidewalk on the west side from Oak Avenue to Grand Avenue.
EXISTING BICYCLE NETWORK
Bikeway planning and design in California typically rely on guidelines and design standards
established by Caltrans (2015) in the Highway Design Manual (Chapter 1000: Bikeway Planning
and Design). The manual describes three distinct types of bikeway facilities, as listed below.
Bike path (Class I) – A completely separate right-of-way designed for the exclusive use of
bicycle and pedestrian traffic with cross-flow minimized.
Bike lane (Class II) – A striped lane for one-way bike travel on a street or highway,
typically including signs placed along the street segment.
Bike route (Class III) – Provides a shared use with pedestrian or motor vehicle traffic.
Typically, these facilities are city streets with signage designating the segment as a bike
route without additional striping or facilities.
3.10 TRANSPORTATION AND CIRCULATION
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.10-3
The following Class I bicycle path is located in the vicinity of the project site:
Centennial Way Trail between South San Francisco BART station and San Bruno BART
station
The following Class II bicycle lanes are located in the vicinity of the project site:
Westborough Boulevard between I-280 and Camaritas Avenue/West Orange Avenue
Grand Avenue between Chestnut Avenue and Spruce Avenue
Mission Road north of McLellan Drive
The following Class III bicycle routes are located in the vicinity of the project site:
Camaritas Avenue-West Orange Avenue south of Arroyo Drive
Commercial Avenue between Chestnut Avenue and Linden Avenue
Del Monte Avenue between Bryon Drive and Arroyo Drive
El Camino Real throughout its extent within South San Francisco
Mission Road between McLellan Drive and Sequoia Avenue
Westborough Boulevard-Chestnut Avenue between Camaritas Avenue/West Orange
Avenue and Hillside Boulevard
Grand Avenue between Mission Road and Chestnut Avenue
Alta Loma Drive between San Felipe Avenue and Arroyo Drive (proposed)
San Felipe Avenue west of Alta Loma Drive (proposed)
EXISTING TRANSIT NETWORK
Public transit service in South San Francisco is provided by SamTrans, BART, and Caltrain.
SamTrans operates fixed-route buses, community-based shuttles, paratransit, and BART
commuter shuttles in San Mateo County and South San Francisco. The routes and services
provided by SamTrans are listed below.
Route 28 travels between the Serramonte Center in Daly City and South San Francisco
High School. Along the route, it connects with regional shopping centers in Daly City and
South San Francisco. The route operates with 10-minute headways during the AM period
and with 6-minute headways during the PM period except for Wednesdays. The service is
only provided on school days. In the project vicinity, it travels on Westborough Boulevard
and then heads south on El Camino Real.
Route 35 provides community service from the intersection of Warwick Street and
Christen Avenue to El Camino High School, located near the South San Francisco BART
station. It operates with 10- to 40–minute headways during the AM peak hours. It also
operates with 6-minute headways during the PM period. This service only operates three
3.10 TRANSPORTATION AND CIRCULATION
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.10-4
AM loops and three PM loops, and only on school days. In the project vicinity, it travels
on El Camino Real between Hickey Boulevard and the BART station.
Route 37 travels through South San Francisco from the intersection of Grove Avenue and
Hillside Boulevard to Alta Loma Middle School. It provides service during school start and
dismissal times at the school. The service is only provided on school days, operating one
morning bus from 7:59 to 8:20 AM and one afternoon bus from 3:35 to 3:59 PM. In the
project vicinity, it travels on El Camino Real between Arroyo Drive and Orange Avenue.
Route 39 travels through South San Francisco from the intersection of Hazelwood Drive
and Northwood Drive to Alta Loma Middle School. It provides service during school start
and dismissal times at the school. The service is only provided on school days, operating
one morning bus from 8:16 to 8:32 AM and one afternoon bus from 3:25 to 3:40 PM. In the
project vicinity, it travels on El Camino Real between Arroyo Drive and Orange Avenue.
Route 122 travels between the Stonestown Shopping Center in San Francisco and the
South San Francisco BART station, providing service to the Colma BART station, San
Francisco State University, and many retail and medical centers along the way. On
weekdays, it operates with an approximate 20-minute headway during the peak hours
and an approximate 30-minute headway for the rest of the day, from 6:00 AM to 10:00
PM. It operates on weekends and holidays with 30-minute headways. In the project
vicinity, it travels on El Camino Real south of the South San Francisco BART station and
then travels west on Arroyo Drive.
Route 131 travels between the Serramonte Center in Daly City and the intersection of
Airport Boulevard and Linden Avenue in South San Francisco. It also provides service to
the South San Francisco BART station. On weekdays, it operates with 15- to 20-minute
headways during the peak hours and with approximately 15- to 30-minute headways for
the rest of the day, from 5:05 AM to 10:56 PM. It operates on Saturdays with 30-minute
headways and on Sundays and holidays with 60-minute headways. In the project vicinity,
it travels on El Camino Real, Mission Road, and Grand Avenue.
Route ECR travels between the Daly City BART station and the Palo Alto Transit Center.
Along the route, it connects with the Daly City, Colma, South San Francisco, San Bruno,
and Millbrae BART stations, the Millbrae and Redwood City Transit Center, and various
Caltrain stations. On weekdays, it operates with approximately 15-minute headways during
peak hours and 30-minute headways for the rest of the day from 4:00 AM to 2:00 AM. On
the weekends, it operates with 15- to 30-minute headways from 5:00 AM to 2:00 AM.
The South City Shuttle travels in a clockwise loop around South San Francisco. Points on
the route include the South San Francisco BART station, the city library, and the city’s
community learning center. On weekdays, it operates on approximately 45-minute
headways from 7:15 AM to 6:39 PM.
Paratransit Service: Paratransit service is for people with disabilities who cannot
independently use regular SamTrans bus service. Trips must be arranged in advance.
Caltrain is a commuter rail system connecting Gilroy to San Francisco, with a connection to BART
at the Millbrae BART station. BART also runs in the city and connects South San Francisco to other
Peninsula cities, San Francisco, and East Bay cities such as Oakland, Fremont, Berkeley, and
Walnut Creek. The South San Francisco BART station is located approximately 0.5 mile to the
northwest of the project site.
3.10 TRANSPORTATION AND CIRCULATION
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.10-5
AVIATION
The project site is located approximately 2.6 miles northwest of San Francisco International
Airport. According to the Comprehensive Airport Land Use Compatibility Plan for the Environs of
the San Francisco International Airport, the project site is located in Airport Influence Area B
(C/CAG 2012). The Airport Influence Area has two parts: Area A and Area B. Area A
encompasses all of San Mateo County, while Area B is based on a combination of the
boundaries of the noise and safety zones and the airplane approach and departure surfaces.
For areas in Area B, the Airport Land Use Commission has the duty to review proposed land use
policy actions, such as general plans, specific plans, rezoning proposals, and land development
proposals. In addition, for areas in Area A (which includes Area B), property for sale or lease must
disclose that the property is in the vicinity of an airport and within the airport influence area.
PUBLIC SAFETY CONSIDERATIONS
Efficient operation of city streets helps to reduce response times for emergency responders,
including South San Francisco Police Department and Fire Department personnel. Emergency
access to the western project site is available via El Camino Real and Camaritas Avenue.
Emergency access to the eastern project site is available via Chestnut Avenue and Antoinette
Lane.
STUDY SCENARIOS
The transportation impact analysis analyzed operations at 12 study intersections and 4 highway
segments. These were the same intersections and highway segments analyzed in the original
ECR/C EIR. They were evaluated during the weekday morning (AM) and weekday evening (PM)
peak hours for the following scenarios as presented in the TIA.
Scenario 1 – Existing conditions: Existing peak-hour traffic volumes on the existing
roadway network. Existing traffic volumes obtained from weekday peak-hour traffic
counts collected in 2016.
Scenario 2 – Existing plus project conditions: Existing traffic volumes obtained from counts
plus additional vehicular trips generated by the land uses proposed in the area.
Scenario 3 – 2030 cumulative conditions – no project: Estimated traffic volumes for the
year 2030 based on growth factors derived from the City/County Association of
Governments of San Mateo County (C/CAG) travel forecasting model.
Scenario 4 – 2030 cumulative conditions plus project 2030: No project volumes plus
additional vehicular trips generated by the land uses proposed in the area plan.
Baseline conditions (existing and cumulative no project) establish background conditions for the
evaluated of the project in the future.
3.10 TRANSPORTATION AND CIRCULATION
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.10-6
EXISTING CONDITIONS TRAFFIC CIRCULATION
Level of Service
The project impacts on traffic were analyzed by modeling the effects of project traffic on level
of service (LOS). LOS is a qualitative term that represents the conditions a driver will experience
while traveling on a particular street or at an intersection during a specific time interval. Level of
service is described using a series of letter designations ranging from A to F; LOS A represents
very little congestion and LOS F represents long delays and congestion. Table 3.10-1 describes
the qualitative attributes of each level of service as well as the control delay ranges for
signalized and unsignalized intersections.
TABLE 3.10-1
SIGNALIZED AND UNSIGNALIZED INTERSECTION LOS DEFINITIONS
LOS Description
Signalized Intersection
Control Delay
(seconds/vehicle)
Unsignalized
Intersection Control
Delay
(seconds/vehicle)
A
Free flow with no delays. Users are virtually unaffected by
others in the traffic stream. At signalized intersections, turning
movements are easily made and all queues clear in a single
signal cycle.
Up to10.0 Up to10.0
B
Stable traffic. Traffic flows smoothly with few delays. An
occasional approach phase is fully utilized. Drivers begin to
feel somewhat restricted within platoons of vehicles.
10.1 to 20.0 10.1 to 15.0
C
Stable flow but the operation of individual users becomes
affected by other vehicles. Modest delays. Major approach
phases fully utilized. Backups may develop behind turning
vehicles.
20.1 to 35.0 15.1 to 25.0
D
Approaching unstable flow. Operation of individual users
becomes significantly affected by other vehicles. Delays may
be more than one cycle during peak hours. Queues may
develop but dissipate rapidly, without excessive delays.
35.1 to 55.0 25.1 to 35.0
E Unstable flow with operating conditions at or near the
capacity level. Long delays and vehicle queuing. 55.1 to 80.0 35.1 to 50.0
F
Forced or breakdown flow that causes reduced capacity.
Traffic demand exceeds the capacity. Stop and go traffic
conditions. Excessive long delays and vehicle queuing.
Greater than 80.0 Greater than 50.0
Source: Transportation Research Board 2010
Note: LOS is measured as the average control delay in seconds per vehicle. Control delay is the portion of the total delay experienced
by drivers at intersections that is attributable to traffic signal operation. Similarly, unsignalized intersections measure the effectiveness of
an unsignalized intersection average control delay. However, the delay is reported for the worst-case approach of the intersections.
Freeway level of service is measured differently. Performance measures such as speed, travel
time, freedom to maneuver, traffic interruptions, and comfort and convenience are used to
describe freeway operation conditions. These measures are related to the density of traffic and
volume to capacity ratio. LOS is a quality measure describing operation conditions in the stream
of traffic during peak hours. LOS is designated from A to F, with LOS A being the best operating
conditions and LOS F the worst. Level of service for the freeway segments is based on the
volume-to-capacity ratio, assuming one freeway travel lane has a capacity of 2,200 vehicles per
3.10 TRANSPORTATION AND CIRCULATION
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.10-7
hour. Table 3.10-2 describes the relationship between freeway LOS, density, and volume-to-
capacity ratio.
TABLE 3.10-2
FREEWAY LOS DEFINITIONS
LOS Density Range (pc/mi/ln) Volume-to-Capacity Ratio
A Up to11.0 0.30
B 11.1 to 18 0.50
C 18.1 to 26.0 0.71
D 26.1 to 35.0 0.89
E 35.1 to 45.0 1.00
F Greater than 45.0.0 Greater than 1.00
Note: pc/mi/ln = passenger cars per mile per lane
Vehicle Circulation
The study analyzed the project’s impacts at the 12 intersections and 4 freeway segments listed
below. These are the same intersections and freeway segments that were analyzed in the
ECR/C EIR. Intersection locations are shown in Figure 3.10-1, Study Intersections. The existing lane
configurations and traffic controls at the study intersections are shown in Figure 3.10-2, TIA Study
Intersections Lane Configurations.
Intersections
1) El Camino Real/Hickey Boulevard
2) El Camino Real/McLellan Boulevard
3) El Camino Real/Arroyo Drive/Oak Extension
4) El Camino Real/Chestnut Avenue
5) El Camino Real/Orange Avenue
6) Mission Road/Grand Avenue
7) Chestnut Avenue/Grand Avenue
8) Mission Road/Oak Avenue
9) Mission Road/Chestnut Avenue
10) Junipero Serra Boulevard/Arroyo Drive
11) Westborough Boulevard/I-280 Southbound (SB) Off-Ramp
12) Westborough Boulevard/I-280 Northbound (NB) On-Ramp/Junipero Serra Boulevard
Freeway Segments
1) I-280 NB from Avalon to Westborough
2) I-280 NB from Westborough to Hickey
3) I-280 SB from Hickey to Westborough
4) I-280 SB from Westborough to Avalon
3.10 TRANSPORTATION AND CIRCULATION
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.10-8
Existing Intersection Levels of Service
The results of the intersection level of service analysis indicate that the following four study
intersections currently operate at unacceptable levels during at least one of the peak hours. The
City of South San Francisco requires that LOS D be maintained for intersections during the AM
and PM peak periods. If an intersection falls below LOS D, it is at an unacceptable level.
El Camino Real/Hickey Boulevard has LOS E during the PM peak period
El Camino Real/Chestnut Avenue has LOS E during the AM peak period
Junipero Serra Boulevard/Arroyo Drive (Worst Approach) has LOS F during the AM peak
period
Westborough Boulevard/I-280 NB On Ramp/Junipero Serra Boulevard has LOS F during
the AM peak period
Table 3.10-3 summarizes the level of service at the study intersections. Of the 12 intersections,
9 are signalized, 2 are side-street stop-controlled (SSSC), and 1 is all-way stop-controlled (AWSC).
TABLE 3.10-3
EXISTING INTERSECTION LOS SUMMARY
Intersection LOS
Standard Control
Existing (2016)
AM Peak PM Peak
LOS Delay LOS Delay
1. El Camino Real/Hickey Boulevard D Signal D 53.4 E 58.9
2. El Camino Real/McLellan Boulevard D Signal C 31.8 D 35.0
3. El Camino Real/Arroyo Drive/Oak
Extension D Signal C 25.5 C 20.5
4. El Camino Real/Chestnut Avenue D Signal E 56.7 D 52.4
5. El Camino Real/Orange Avenue D Signal D 36.8 D 40.7
6. Mission Road/Grand Avenue D AWSC B 12.9 B 13.0
7. Chestnut Avenue/Grand Avenue D Signal C 32.2 C 31.2
8. Mission Road/Oak Avenue D SSSC A 2.3 A 1.0
Worst Approach B 14.9 B 11.8
9. Mission Road/Chestnut Avenue D Signal C 26.7 C 26.4
10. Junipero Serra Boulevard/Arroyo
Drive (Worst Approach) D SSSC B 11.5 A 3.8
Worst Approach F 99.7 E 39.2
11. Westborough Boulevard/I-280 SB
Off-Ramp D Signal A 5.3 A 9.8
12. Westborough Boulevard/I-280 NB
On-Ramp/Junipero Serra Boulevard D Signal F 85.6 D 54.9
Source: Kimley-Horn 2017
Note: Intersections that are operating below acceptable levels are shown in bold.
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Source: Kimley HornSource: Kimley HornSource: Kimley Horn
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FIGURE 3.10-2
TIA Study Intersections Lane ConfigurationsNot To Scale
3.10 TRANSPORTATION AND CIRCULATION
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.10-13
Existing Highway Segment Levels of Service
The 2000 Highway Capacity Manual (HCM) defines six level of service grades for each type of
facility. Level of service is designated from A to F, with LOS A representing the best operating
conditions and LOS F the worst. For this study, the level of service for a basic freeway segment is
based on the volume-to-capacity ratio, assuming that one freeway travel lane has a capacity
of 2,200 vehicles per hour. The San Mateo County Congestion Management Program (CMP) set
the LOS standards for freeways in the county, which includes the sections analyzed in this study.
The CMP sets the level of service standard in the area at LOS D. Using this criteria, all four
freeway segments reach an unacceptable level of service in either the AM or PM peak travel
period.
Both northbound and southbound I-280 have four lanes with a capacity of 2,200 vehicles per
lane and a total capacity of 8,800. The speed limit is 70 miles per hour (mph), with a free-flow
speed of 65 mph. Table 3.10-4 shows the level of service for each freeway segment. See
Appendix TRA for the level of service calculation under existing conditions.
TABLE 3.10-4
EXISTING CONDITIONS HIGHWAY SEGMENT LOS
Intersection LOS
Standard
Existing (2016)
AM Peak PM Peak
Volume
(veh/hr) LOS V/C Volume
(veh/hr) LOS V/C
I-280 NB From Avalon to Westborough D 6,269 D 0.712 8,032 E 0.913
I-280 NB from Westborough to Hickey D 7,575 D 0.861 8,727 E 0.992
I-280 SB from Hickey to Westborough D 7,179 D 0.816 8,073 E 0.917
I-280 SB from Westborough to Avalon D 7,876 E 0.895 7,334 D 0.833
Source: Kimley-Horn 2017
Note: Segments that are operating below acceptable levels are shown in bold.
3.10.3 REGULATORY FRAMEWORK
FEDERAL
Americans with Disabilities Act of 1990
Titles I, II, III, and V of the Americans with Disabilities Act (ADA) have been codified in Title 42 of
the United States Code, beginning at Section 12101. Title III prohibits discrimination on the basis
of disability in places of public accommodation (businesses and nonprofit agencies that serve
the public) and commercial facilities (other businesses). The regulation includes Appendix A to
Part 36 (Standards for Accessible Design), establishing minimum standards for ensuring
accessibility when designing and constructing a new facility or altering an existing facility.
3.10 TRANSPORTATION AND CIRCULATION
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.10-14
Examples of key guidelines include detectable warnings for pedestrians entering traffic where
there is no curb, a clear zone of 48 inches for the pedestrian travelway, and a vibration-free
zone for pedestrians.
Federal Highway Administration
The Federal Highway Administration (FHWA) is a major agency of the US Department of
Transportation. In partnership with state and local agencies, the FHWA carries out federal
highway programs to meet the nation’s transportation needs. The FHWA administers and
oversees federal highway programs to ensure that federal funds are used efficiently.
STATE
California Department of Transportation
Caltrans has authority over the state highway system, including freeways, interchanges, and
arterial state routes. Caltrans approves the planning, design, and construction of improvements
for all state-controlled facilities and the associated interchanges. Caltrans requirements are
described in its Guide for the Preparation of Traffic Impact Studies (2002), which covers the
information needed for Caltrans to review the impacts on state highway facilities, including
freeway segments.
Statewide Transportation Improvement Program
The California Transportation Commission administers transportation programming, the public
decision-making process that sets priorities and funds projects envisioned in long-range
transportation plans. It commits expected revenues over a multiyear period to transportation
projects. The State Transportation Improvement Program is a multiyear capital improvement
program of transportation projects on and off the state highway system, funded with revenues
from the State Highway Account and other funding sources.
Complete Streets (AB 1358)
Assembly Bill (AB) 1358, also known as the California Complete Streets Act of 2008, requires cities
and counties to include complete streets policies in their general plans. These policies address
the safe accommodation of all users, including bicyclists, pedestrians, motorists, public transit
vehicles and riders, children, the elderly, and the disabled. These policies can apply to new
streets as well as to the redesign of corridors.
California Public Utilities Commission
The California Public Utilities Commission (CPUC) has jurisdiction over the safety of highway-rail
crossings in California. The California Public Utilities Code requires CPUC approval for the
construction or alteration of crossings and grants the CPUC exclusive power on the design,
alteration, and closure of crossings in California.
Senate Bill 743
On September 27, 2013, Senate Bill (SB) 743 was signed into law. The bill adds Chapter 2.7,
Modernization of Transportation Analysis for Transit-Oriented Infill Projects, to Division 13 (Section
21099) of the Public Resources Code. SB 743 started a process that could change the way
transportation impacts are analyzed under the California Environmental Quality Act (CEQA).
3.10 TRANSPORTATION AND CIRCULATION
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.10-15
These changes will shift agencies away from using auto delay, LOS, and other similar measures of
vehicular capacity or traffic congestion as a basis for determining significant traffic impacts in
California. SB 743 includes amendments that allow cities and counties to opt out of traditional
level of service standards where congestion management programs are used and requires the
California Office of Planning and Research (OPR) to update the CEQA Guidelines and establish
“criteria for determining the significance of transportation impacts of projects within transit
priority areas.” As part of the new CEQA Guidelines, the new criteria “shall promote the
reduction of greenhouse gas emissions, the development of multimodal transportation networks,
and a diversity of land uses.” The OPR is currently accepting comments on its Preliminary
Discussion Draft of Updates to the CEQA Guidelines Implementing Senate Bill 743, which was
released on January 20, 2016, and currently proposes the use of vehicle miles traveled (VMT) as
a metric for evaluating traffic impacts. Once the final draft of changes to the CEQA Guidelines is
published, certification and adoption by the Secretary for Resources will be required before they
go into effect.
LOCAL
City of South San Francisco General Plan
The following policies in the City’s General Plan Transportation Element were taken into
consideration as they relate to transportation and circulation.
Policies Regarding Street Systems
4.2-G-2 Improve connections between different parts of the city.
4.2-G-3 Where appropriate, use abandoned railroad rights-of-way and the BART right-of-
way to establish new streets.
4.2-G-4 Use the El Camino Real/Chestnut Area Plan as a guide for detailed
implementation of General Plan transportation policies for the El Camino
Real/Chestnut Area.
4.2-G-7 Use Figure 4-1: Street Classifications, to identify, schedule, and implement
roadway improvements. Use the El Camino Real/Chestnut Avenue Area Plan to
identify, schedule, and implement roadway improvements for the El Camino
Real/Chestnut Area and the Downtown Station Area Specific Plan for the
Downtown Station Area roadway improvements.
4.2-G-8 Use the Bicycle Master Plan to identify, schedule, and implement roadway
improvements that enhance bicycle access.
4.2-G-9 Use the Pedestrian Master Plan to identify, schedule, and implement roadway
improvements that enhance pedestrian access.
4.2-G-10 Make efficient use of existing transportation facilities and, through the
arrangement of land uses, improve alternate modes, and enhanced integration
of various transportation systems serving South San Francisco, strive to reduce the
total vehicle-miles traveled.
4.2-G-11 Coordinate local actions with regional agencies, and undertake active efforts to
undertake transportation improvements.
3.10 TRANSPORTATION AND CIRCULATION
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.10-16
4.2-G-12 Provide fair and equitable means for paying for future street improvements
including mechanisms such as development impact fees.
4.2-G-13 Strive to maintain LOS D or better on arterial and collector streets, at all
intersections, and on principal arterials in the CMP during peak hours.
4.2-G-14 Accept LOS E or F after finding that:
There is no practical and feasible way to mitigate the lower level of service;
and
The uses resulting in the lower level of service are of clear, overall public
benefit.
4.2-G-15 Exempt development within one-quarter mile of a Caltrain or BART station, or a
city-designated ferry terminal, from LOS standards.
4.2-I-2 Undertake street improvements identified in Figures 4-1 and 4-2. Improvements
identified include [among others]:
Connection between Hillside Boulevard and El Camino Real near the BART
station.
Arroyo Drive/Oak Avenue connection.
Mission Road extension from Chestnut Avenue to South Linden Avenue
extension on the BART right-of-way.
4.2-I-7 Continue to require that new development pays a fair share of the costs of street
and other traffic and transportation improvements, based on traffic generated
and impacts on service levels. Explore the feasibility of establishing impact fee,
especially for improvements required in the Lindenville area.
4.2-I-10 Design roadway improvements and evaluate development proposals based on
LOS standards.
4.2-I-11 Implement, to the extent feasible, circulation system improvements illustrated in
Figures 4-1, 4-2, and 4-3 prior to deterioration in levels of service below the stated
standard.
Policies Regarding Alternative Transportation Systems
4.3-G-1 Develop a comprehensive and integrated system of bikeways that promote
bicycle riding for transportation and recreation.
4.3-G-2 Provide safe and direct pedestrian routes and bikeways between and through
residential neighborhoods, and to transit centers.
4.3-G-3 Use the El Camino Real/Chestnut Avenue Area Plan as a guide for detailed
implementation of General Plan alternative transportation system policies for the
El Camino Real /Chestnut Area.
4.3-G-5 In partnership with employers, continue efforts to expand shuttle operations.
3.10 TRANSPORTATION AND CIRCULATION
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.10-17
4.3-G-6 In partnership with the local business community, develop a transportation
systems management plan with identified trip-reduction goals, while continuing
to maintain a positive and supportive business environment.
Policies Regarding Bicycles
4.3-I-1 Prepare and adopt a Bikeways Master Plan that includes goals and objectives, a
list or map of improvements, a signage program, detailed standards, and an
implementation program. Once adopted, the Bicycle Master Plan shall be the
guiding policy document regarding bicycling matters that are within the scope of
the adopted Bicycle Master Plan.
4.3-I-2 As part of the Bikeways Master Plan, include improvements identified in Figure 4-4
in the General Plan and in the El Camino Real/Chestnut Avenue Area Plan, and
the South San Francisco Downtown Station Area Specific Plan identify additional
improvements that include abandoned railroad rights-of-way and other potential
connections. [The following identified improvements are applicable to the
proposed project.]
Bike Path on linear park on the BART right-of-way, extending from the South
San Francisco BART Station to the San Bruno BART station.
Bike connections between Mission Road and El Camino Real
Bike connection between Camaritas Avenue and El Camino Real
4.3-I-4 Require provision of secure covered bicycle parking at all existing and future
multifamily residential, commercial, industrial, and office/institutional uses.
Policies Regarding Pedestrian Circulation
4.3-I-5 Prepare, adopt, and maintain a PMP as a long-term vision for supporting and
improving pedestrian access in South San Francisco, including goals, policies, and
strategic near-term implementation measures that encourage pedestrian activity
and prioritizes pedestrian improvements for funding.
4.3-I-12 Use the El Camino Real/Chestnut Avenue Area Plan to identify, schedule, and
implement pedestrian improvements for the El Camino Real/Chestnut Area.
Policies Regarding Transportation Demand Management (TDM)
4.3-I-15 Adopt a TDM program or ordinance which includes, but is not limited to, the
following components:
Methodology to determine eligibility for land use intensity bonuses for TDM
programs identified in the Land Use Element.
Procedures to ensure continued maintenance of measures that result in
intensity bonuses.
Requirements for off-site improvements (such as bus shelters and pedestrian
connections) that are directly necessary as a result of development.
3.10 TRANSPORTATION AND CIRCULATION
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.10-18
Establishment of baseline TDM requirements for all new projects generating
more than 100 peak period trips.
Establishment of additional requirements for all new projects seeking a FAR
bonus.
An ongoing monitoring and enforcement program to ensure TDM measures
are actually implemented.
Reduce parking requirements for new projects implementing a TDM Program
in proximity to fixed guide way transit or those with demonstrated measures
that would reduce trip generation.
Policies Regarding Parking
4.3-I-18 Establish parking standards to support trip reduction goals by:
Allowing parking reductions for projects that have agreed to implement trip
reduction methods, such as paid parking, and for mixed use development.
Requiring projects larger than 25 employees to provide preferential parking
for carpools and vanpools.
4.3-I-19 Amend the Zoning Ordinance to reduce minimum parking requirements for
projects proximate to transit stations and for projects implementing a TDM
program.
4.3-I-20 Investigate opportunities for shared parking facilities whenever possible to reduce
the number of new parking stalls required.
Policies Regarding Transit
4.4-G-1 Promote local and regional public transit serving South San Francisco.
4.4-G-2 Explore mechanisms to integrate various forms of transit.
4.4-I-3 Explore the feasibility of a shuttle system between the Downtown/multi-modal
station and South San Francisco and San Bruno stations. Explore mechanisms to
provide the shuttle service free to riders.
El Camino Real/Chestnut Avenue Area Plan
The following Area Plan policies are relevant to the analysis of traffic and transportation impacts:
Section 3.3, Urban Design
UD-6 Establish a comprehensive urban design scheme that specifies a palette for
landscaping, pedestrian amenities, and architectural features. The scheme
should visually unite the entire area, highlight open space and Centennial Way,
and signal key destinations to passing vehicular traffic.
UD-13 Create an open space and trail extension of Centennial Way along the BART
right-of-way from Chestnut Avenue to Colma Creek, just north of the Oak Avenue
extension. Establish the portion between Chestnut Avenue and Oak Avenue as a
pedestrian district.
3.10 TRANSPORTATION AND CIRCULATION
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.10-19
Section 3.4, Circulation
Guiding Principle 8: Provide enhanced linkages within the Planning Area. Pedestrian, bicycle,
and vehicular connections should be established through new development to maximize
the accessibility of open space, commercial amenities, and transit.
C-1 Ensure that transportation improvements are executed concurrently with
associated and/or adjacent development, as described in Section 5.3: Phasing
and Initial Development Steps.
C-2 Ensure that a continuous pedestrian and bicycle connection is provided along
Centennial Way between Chestnut Avenue and the proposed Oak Avenue
extension.
C-3 Emphasize linkages to Centennial Way with east-west pedestrian/bicycle
connections from new development and surrounding neighborhoods. These
linkages will also help to break up larger blocks and development sites.
C-4 Encourage pedestrian-oriented connections through development between
Chestnut Avenue and the planned Oak Avenue extension.
C-5 Enhance pedestrian/bicycle connectivity to key destinations, including Kaiser
Hospital, the potential library and other civic uses, such as Orange Memorial Park
and the Municipal Services Building.
C-6 Undertake the following street improvements [only improvements near the
project were included in this list:
El Camino Real/Arroyo Drive/Oak Extension. Restripe westbound shared
through/right turn lane to shared left turn/through/right turn lane.
Guiding Principle 9: Create efficient parking solutions that optimize sharing of resources
between various uses.
P-1 Balance parking need and provision with the desire to promote transit, walking,
and bicycling. Do not mandate any minimum parking standards; rather, establish
maximum parking standards and let parking provision be determined by market
need.
P-2 Require all non-residential development within the area shown in Figure 3-8 to
participate in a parking district to efficiently meet parking demand. Establish a
special assessment on the properties within the district to fund the majority of a
shared parking structure and develop an in-lieu fee program providing
developers the option to use district facilities for their parking needs.
P-3 Require that most parking be underground or in podiums/structures, to enable
the ground to be used for active uses.
P-4 Wrap parking structures with development, such as ground floor retail along
pedestrian-oriented streets and around public spaces, and townhomes along
Centennial Way.
3.10 TRANSPORTATION AND CIRCULATION
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.10-20
P-5 Ensure that entrances to structured parking for commercial uses are highly visible
and easily accessed from Chestnut Avenue and El Camino Real.
P-6 Allow parking areas exceeding one space per housing unit to be provided in
form of tandem parking (which will reduce parking construction costs), and/or
allow (but do not require) parking in excess of one space per unit to be
“unbundled” (that is, purchased or leased separately from the housing unit).
P-7 Design mixed-use developments to enable parking to be shared efficiently
between various uses.
P-8 Provide on-street parking along Chestnut Avenue and the planned Oak Avenue
extension. Work with Caltrans to provide on-street parking along El Camino Real
within the Planning Area.
P-10 Implement a parking way-finding system that identifies public parking.
P-11 Continue to administer and implement the transportation demand management
program through the Municipal Code
P-12 Use the development agreement process to ensure that developers accept the
transportation demand management and trip reduction requirements. Although
trip reduction requirements are established for sites and buildings during the
entitlements phase of development, the TDM programs will primarily be
developed, implemented, monitored and refined by future employers and
tenants. Employers are required to develop and submit plans for approval,
implement and monitor the effectiveness of the plan and ability to meet
requirements, and refine the plan as necessary.
Section 4, Design Guidelines
DG-19 Sidewalks in front of ground floor uses should be designed with amenities that
encourage pedestrian activity.
DG-25 Access to buildings within public and institutional areas should be visible from the
street, with clearly marked entrances and pedestrian pathways and a consistent
landscaping palette.
DG-26 New development should be brought to the street edge, with parking located in
the rear or on the interior of development.
DG-41 Landscaping and tree planting along the length of Centennial Way should
exhibit a unified palette. The pedestrian district portion of Centennial Way
between Oak and Chestnut avenues should:
Provide consistent lighting, specialty paving along walkways, and other
pedestrian amenities.
Be visible and accessible from Oak and Chestnut avenues. It should be
designed with landscaping and ancillary structures that strategically identify
pedestrian pathways and sitting areas, and articulate the space’s edges.
3.10 TRANSPORTATION AND CIRCULATION
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.10-21
Permit a variety of activities and events. These may include informational
kiosks, vendors, public art, or public screening areas.
DG-43 Public spaces, including pedestrian connections should be well-lit and designed
for high visibility to ensure personal safety and comfort.
DG-44 Signature, pedestrian-scaled lighting elements should be employed along
Centennial Way, at minimum along the pedestrian district and public plaza
between Chestnut and Oak avenues.
DG-50 Provide clear signage for entrances to structured parking to facilitate ease of
parking in mixed-use areas.
DG-51 Limit curb cuts and driveway entrances to reduce conflicts with pedestrians.
Locate driveway entrances on side streets and access drives where possible.
DG-52 Loading should be designed to be off the public right-of-way. Service areas
should be accessible for truck drivers, with appropriate access from docks into
buildings. Avoid locating access to loading areas on major streets.
DG-53 Design structured parking as an integral part of the project it serves. Where
parking is visible from rights-of-way or open space, it should be designed to be
consistent in style and materials with the rest of the project. Landscaping that is
compatible with building design may also be employed as a screening.
DG-54 Bicycle parking should be located near entrances and exits, secure, and weather
protected.
City of South San Francisco Municipal Code
All nonresidential development is required to implement Trip Reduction Measures per Title 20,
Zoning, Part II, Chapter 20.400.004 of the South San Francisco Municipal Code. Measures include
carpool and vanpool ride matching services, passenger loading zones for carpool and
vanpools, pedestrian connections from the project to surrounding external streets, and long-
and short-term bicycle parking.
City of South San Francisco Pedestrian Master Plan
The Pedestrian Master Plan was adopted to facilitate increased walking to local destinations in
South San Francisco. The plan includes an inventory of the current pedestrian facilities in the city,
a gap analysis to identify and prioritize needed improvements in the city, and goals, policies,
and implementation measures to achieve a more walkable city. Downtown South San Francisco
and residential neighborhoods were the key focus areas in the plan. The plan included the
following recommended improvements and projects in the vicinity of the project:
Missing sidewalks at the intersections of El Camino Real and Chestnut Avenue, and
Antoinette Lane and Chestnut Avenue
Improve ADA compliance by adding tactile domes to curb ramps at the intersections of
El Camino Real and Chestnut Avenue, El Camino Real and Arroyo Drive, and Arroyo
Drive and Camaritas Avenue
3.10 TRANSPORTATION AND CIRCULATION
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.10-22
Linear barriers physically separate different parts of the city and present obstacles
walking between neighborhoods. Colma Creek is a linear barrier near the project site.
Crossings at linear barriers should be enhanced to improve comfort and safety.
Centennial Way Trail through Chestnut Avenue Crossing: extend the centennial trail
along the sidewalk alignment on the west side of Antoinette Lane and crosswalk on
Chestnut Avenue to connect the Centennial Trail.
City of South San Francisco Bicycle Master Plan
The plan recommends a comprehensive and integrated system of bikeways to promote bicycle
riding for transportation and recreation. Recommendations are intended to provide safer and
more direct bicycle routes through residential neighborhoods, employment and shopping areas,
and linkages to transit stops. In implementing the plan, the City is striving to make bicycling an
important part of the transportation system in South San Francisco. The plan included the
following recommended improvements and projects in the vicinity of the project:
A proposed bicycle lane along Chestnut Avenue
A proposed bicycle route along Arroyo Drive
3.10.4 IMPACTS AND MITIGATION MEASURES
METHODOLOGY
The transportation impact analysis is based on the transportation impact analysis prepared by
Kimley-Horn (Appendix TRA). The following is a summary of the methods and assumptions used to
conduct the impact analysis for the project. Information was collected on roadway
configurations, daily traffic counts, public transit routes, and bicycle and pedestrian facilities.
Project Traffic Estimates
The magnitude of traffic produced by a new development and the locations where that traffic
would appear are estimated using a three-step process: (1) trip generation, (2) trip distribution,
and (3) trip assignment. This process was used for both Scenario 2: Existing plus project conditions
and Scenario 4: Cumulative plus project conditions.
Trip Generation
Project traffic was estimated by applying the project size to trip generation rates as published by
the Institute of Transportation Engineers (ITE). Trip generation rates are the number of trips
generated by a particular land use and represent a national average for similar land use types.
To determine the worst-case traffic impacts, project trips are typically estimated during the AM
and PM peak hours (7:00–9:00 AM and 4:00–6:00 PM). The TIA defined blocks for each section of
the project, and trip generation rates were calculated based on the proposed development for
each block. Traffic generated by each block was then added to estimate the overall project
trips.
3.10 TRANSPORTATION AND CIRCULATION
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.10-23
Trip Distribution
The project’s trip distribution pattern was estimated based on existing traffic count information,
traffic volumes in the C/CAG travel demand model, and the orientation of similar land uses to
the site and population and employment sources to the study area. The project trip distribution
pattern is shown graphically on TIA Figure 7 (Appendix TRA).
Trip Assignment
The project’s peak-hour vehicle trips were added to the transportation network in accordance
with the project trip distribution pattern discussed above. The assignment of project trips is
presented graphically on TIA Figure 9 (Appendix TRA).
Cumulative Conditions
Cumulative (2030) No Project Conditions
Cumulative (2030) no project conditions establish future traffic levels at project intersections and
freeway segments without traffic created by the project. The “no project” assumes the ECR/C is
not implemented. The Cumulative No Project volumes are the existing volumes grown based on
growth rates from the C/CAG model. This creates a baseline condition for the evaluation of
project impacts in the future. Cumulative traffic volumes for the study intersections and roadway
segments were estimated for the year 2030 using growth rates derived from the C/CAG travel
demand forecasting model. The model reflects land use, population, employment, income
levels, automobile ownership, persons per household, and other factors. The model output
includes weekday AM and PM peak-period volume.
Cumulative (2030) plus Project Conditions
Cumulative (2030) plus project conditions add future traffic generated by the project to the
cumulative (2030) no project conditions. Differences in level of service show the project’s future
impact on traffic at project intersections and freeway segments.
STANDARDS OF SIGNIFICANCE
Per the CEQA Guidelines, a transportation and circulation impact is considered significant if
project implementation would result in one or more of the following:
1) Cause an increase in traffic that is 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).
2) Conflict with an applicable congestion management program, including, but not limited
to, level of service standards and travel demand measures or other standards
established by the county congestion management agency for designated roads or
highways.
3) 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.
4) Substantially increase hazards due to a design feature (e.g., sharp curves or dangerous
intersections) or incompatible uses (e.g., farm equipment).
3.10 TRANSPORTATION AND CIRCULATION
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.10-24
5) Result in inadequate emergency access.
6) Conflict with adopted policies, plans, or programs regarding public transit, bicycle, or
pedestrian facilities, or otherwise decrease the performance or safety of such facilities.
Changes in the CEQA Guidelines
There have been no changes in the CEQA Guidelines since 2011 that are relevant to the analysis
of traffic and transportation impacts. This Draft SEIR uses the CEQA Guidelines as outlined in
Appendix G. Both the ECR/C EIR and this subsequent EIR use the same impact criteria
established by the City of South San Francisco and San Mateo County.
IMPACT CRITERIA
Level of Service Impact Criteria
The City of South San Francisco requires that LOS D be maintained for intersections during the
AM and PM peak periods. A project would be considered to have a significant impact if the
following criteria are met:
The trips generated by the project would cause the intersection to operate at LOS E or F.
If an existing intersection currently does not meet the City’s LOS standard, the project
would have a significant impact if trips generated by the project would add traffic to
that intersection.
If an existing intersection currently meets the City’s LOS standard, and a combination of
project traffic and future cumulative traffic would result in the intersection not meeting
the City’s LOS standard and the project traffic increased the average control delay for
the intersection by 4 or more seconds.
The San Mateo County Congestion Management Program set the LOS standards for freeways in
the county. The CMP sets the standard for Interstate 280 as LOS D. The project would have a
significant impact if:
Trips generated by the project would cause a freeway segment to operate at a level of
service that does not meet the CMP standard (LOS D).
If the freeway segment currently does not meet the CMP standard, the project would
have a significant impact if trips generated by the project add 1 percent or more of the
freeway capacity, or if the volume-to-capacity ratio increases by 1 percent.
If the future cumulative analysis shows the addition of background traffic to the project
traffic would result in the freeway segment not meeting the CMP standard and the
project traffic increases demand on the freeway by 1 percent, or the volume-to-
capacity ratio increases by 1 percent.
Bicycle and Pedestrian Systems Impact Criteria
Pedestrian and bicycle impacts are considered significant if the project disrupts existing facilities
or interferes with planned pedestrian or bicycle facilities. Impacts are also significant if the
project creates inconsistencies with adopted pedestrian system plans, guidelines, policies, or
standards.
3.10 TRANSPORTATION AND CIRCULATION
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.10-25
Transit Impact Criteria
Transit impacts are significant if the project disrupts existing transit facilities or service, or interferes
with planned transit services or facilities. They are significant if the project creates demand for
public transit services beyond the provided or planned services. Impacts are also considered
significant if the project creates inconsistencies with adopted transit system plans, guidelines,
policies, or standards.
PROJECT IMPACTS AND MITIGATION MEASURES
Cause a Substantial Increase in Traffic Load (Standard of Significance 1) or Conflict with an
Applicable Congestion Management Program (Standard of Significance 2)
Impact 3.10.1 Based on project site circulation patterns and potential conflicts, the project
would have an impact on applicable plans, ordinances, or policies
establishing measures of effectiveness for the performance of the circulation
system. The project’s impact would be less than significant with mitigation.
2011 ECR/C Area Plan Impacts
The transportation impact analysis prepared for the ECR/C EIR analyzed the same intersections
and I-280 segments as the proposed project. Table 3.10-5 summarizes the findings in the ECR/C
EIR under existing plus project conditions.
TABLE 3.10-5
ECR/C INTERSECTION TRANSPORTATION IMPACTS
Intersection ECR/C EIR Impact
1. El Camino Real/Hickey Boulevard
Less than significant with mitigation (Policy C-6 of the
proposed plan to modify signal operations to include
an eastbound right turn overlap phase would improve
LOS in 2010 Existing plus Project to LOS C)
2. El Camino Real/McLellan Boulevard Less than significant
3. El Camino Real/Arroyo Drive/Oak Extension Less than significant
4. El Camino Real/Chestnut Avenue Less than significant
5. El Camino Real/Orange Avenue Less than significant
6. Mission Road/Grand Avenue Less than significant
7. Chestnut Avenue/Grand Avenue Less than significant
8. Mission Road/Oak Avenue Less than significant
9. Mission Road/Chestnut Avenue Less than significant
10. Junipero Serra Boulevard/Arroyo Drive (Worst
Approach)
No impact. No project trips are being added to this
intersection; therefore, there is no impact at this
intersection as a result of the proposed plan.
11. Westborough Boulevard/I-280 SB Off-Ramp Less than significant
12. Westborough Boulevard/I-280 NB On-Ramp/Junipero
Serra Boulevard
Less than significant with mitigation
Source: South San Francisco 2011b
3.10 TRANSPORTATION AND CIRCULATION
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.10-26
The original EIR found that the project would have less than significant impacts with mitigation
incorporated under existing plus project conditions. The mitigation involved the restriping of
streets to improve the level of service, which was feasible in the existing plus project scenario
(South San Francisco 2011b, p. 3.1-25).
Impacts on freeway segments were found to be less than significant under the existing plus
project scenario, because all freeway segments would continue to operate at an acceptable
level of service (South San Francisco 2011b, p. 3.1-33).
Subsequent Project Impacts Under Existing plus Project Conditions
Project Trip Generation
As described in the Methodology subsection above, project traffic was estimated by applying
the project size to trip generation rates as published by the Institute of Transportation Engineers.
The TIA defined blocks for each section of the project, and trip generation rates were calculated
based on the proposed development for each block. Traffic generated by each block was then
added to estimate the overall project trips. Based on this analysis, it was determined that the
project would generate 487 new AM peak-hour trips and 940 new PM peak-hour trips.1
Intersection Level of Service Analysis
The results of the intersection LOS analysis indicate that based on the applicable significance
criteria, four study intersections would operate unacceptably based on City criteria under
existing plus project conditions. The results of the intersection analysis are summarized in Table
3.10-6. Figure 3.10-3 shows the traffic volumes at each intersection.
The following study intersections would operate unacceptably under existing plus project
conditions:
Intersection 1 – El Camino Real and Hickey Boulevard – AM and PM peak hours. Project
trips would cause the AM peak LOS to fall from an acceptable LOS D to an
unacceptable LOS E. Project-generated trips would increase.
Intersection 4 – El Camino Real and Chestnut Avenue – AM and PM peak hours
Intersection 10 – Junipero Serra Boulevard and Arroyo Drive – AM and PM peak hours
Intersection 12 – Westborough Boulevard and I-280 NB on-ramp/Junipero Serra Boulevard
– AM and PM peak hours
1 Note: The TIA states the ECR/C plan area would add 9,962 additional trips. However, the revised project only
encompasses blocks D and E (-340 trips), blocks F and G (4,856 trips), and the outside focus area (1,055 trips) for a total of
5,571 trips. Of these 5,571 trips, 487 would occur during the AM peak hour and 940 would occur in the PM peak hour. The
remaining 4,144 would occur at other times of day.
3.10 TRANSPORTATION AND CIRCULATION
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.10-27
TABLE 3.10-6
EXISTING AND EXISTING PLUS PROJECT INTERSECTION LEVELS OF SERVICE
Intersection LOS
Standard Control
Existing (2016) Existing plus Project
AM Peak PM Peak AM Peak PM Peak
LOS Delay LOS Delay LOS Delay LOS Delay
1. El Camino
Real/Hickey
Boulevard
D Signal D 53.4 E 58.9 E 57.8 F 87.3
2. El Camino Real/
McLellan Boulevard D Signal C 31.8 D 35.0 C 33.8 D 36.7
3. El Camino Real/
Arroyo Drive/Oak
Extension
D Signal C 25.5 C 20.5 C 26.8 C 24.0
4. El Camino Real/
Chestnut Avenue D Signal E 59.7 D 52.4 E 60.8 E 58.0
5. El Camino Real/
Orange Avenue D Signal D 36.8 D 40.7 D 36.9 D 40.9
6. Mission Road/
Grand Avenue D AWSC B 12.9 B 13.0 B 14.1 B 14.7
7. Chestnut Avenue/
Grand Avenue D Signal C 32.2 C 31.2 C 33.0 C 31.9
8. Mission Road/Oak
Avenue D SSSC A 2.3 A 1.0 A 2.3 A 0.9
Worst Approach B 14.9 B 11.8 C 16.5 B 12.7
9. Mission Road/
Chestnut Avenue D Signal C 26.7 C 26.4 C 29.3 C 29.2
10. Junipero Serra
Boulevard/Arroyo
Drive (Worst
Approach) D SSSC B 11.5 A 3.8 B 11.5 A 3.8
Worst Approach F 99.7 E 39.2 F 99.7 E 39.2
11. Westborough
Boulevard/I-280 SB
Off-Ramp
D Signal A 5.3 A 9.8 A 5.4 B 10.5
12. Westborough
Boulevard/I-280 NB
On-Ramp/Junipero
Serra Boulevard
D Signal F 85.6 D 54.9 F 96.8 E 65.4
Source: Kimley-Horn 2017
Note: Intersections that are operating below acceptable levels are shown in bold, and significant impacts are highlighted.
3.10 TRANSPORTATION AND CIRCULATION
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.10-28
Project Impacts and Mitigation Measures for Existing Conditions plus Project
Intersection 1: El Camino Real/Hickey Boulevard
Impact 3.10.1a Project traffic would cause Intersection 1 to operate below acceptable levels
of service in the AM and PM peak hours. The impact would be less than
significant with mitigation.
As shown in Figure 3.10-3 and Table 3.10-6, the intersection (El Camino Real/Hickey Boulevard)
operates at an acceptable LOS D during the AM peak hour and at an unacceptable LOS E
during the PM peak hour. Project-generated traffic would degrade the intersection level of
service to an unacceptable LOS E during the AM peak hour and LOS F during the PM peak hour.
This would be a potentially significant impact, and mitigation measure MM 3.10.1a would be
required. Implementation of this mitigation measure would improve the intersection level of
service to an acceptable LOS C during the AM peak hour and LOS D during the PM peak hour.
The revised project’s impact would continue to be less than significant with mitigation.
Mitigation Measures
MM 3.10.1a The City shall add an eastbound right turn overlap phase for vehicles going
eastbound on Hickey Boulevard and making a right turn onto southbound El
Camino Real.
Intersection 4: El Camino Real/Chestnut Avenue
Impact 3.10.1b Project traffic would cause Intersection 4 to operate below acceptable levels
of service in the AM and PM peak hours. The impact would be less than
significant with mitigation.
As shown in Figure 3.10-3 and Table 3.10-6, the intersection (El Camino Real/Chestnut Avenue)
operates at an unacceptable LOS E during the AM peak hour and at an acceptable LOS D
during the PM peak hour. The addition of project-generated traffic would cause the intersection
to operate at an unacceptable LOS E during both the AM and PM peak hours. This would be a
potentially significant impact, and mitigation measure MM 3.10.1b would be required. The
mitigation measure would improve intersection level of service to an acceptable LOS D for both
the AM and PM peak hours and reduce the revised project’s impact to less than significant with
mitigation.
Mitigation Measures
MM 3.10.1b The City shall modify the signal timing, as outlined in the TIA, to optimize the
cycle length at the intersection of El Camino Real and Chestnut Avenue.
Intersection 10: Westborough Boulevard/I-280 NB On-Ramp/Junipero Serra Boulevard
Impact 3.10.1c Intersection 10 would operate below acceptable levels of service in the AM
and PM peak hours under the existing plus project scenario. The project would
have no impact.
As shown in Figure 3.10-3 and Table 3.10-6, the intersection (Westborough Boulevard/I-280 NB
On-Ramp/Junipero Serra Boulevard) operates at an unacceptable LOS F during the AM peak
hour and at an unacceptable LOS F during the PM peak hour. Project-generated traffic was
found to add no traffic to the intersection and as such, would not exacerbate the traffic delay.
Therefore, the revised project would continue to have no impact.
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FIGURE 9
EXISTING (2016) PLUS PROJECT CONDITION
N
NOT TO SCALE
PEAK HOUR TURNING MOVEMENT VOLUMES
1
2
3
4
5
6
7
8
12
11
10
9
LEGEND
STUDY AREA
INTERSECTIONS
AM(PM) PEAK HOUR
VOULMESAM/(PM)
X
EL CAMINO - CHESTNUT
PLAN AREA
1 2 3 4
5 6 7 8
9 10 11 12
Source: Kimley HornSource: Kimley HornSource: Kimley Horn
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FIGURE 3.10-3
Existing Plus Project ConditionsNot To Scale
3.10 TRANSPORTATION AND CIRCULATION
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.10-31
Mitigation Measures
None required.
Intersection 12: Westborough Boulevard/I-280 NB On-Ramp/Junipero Serra Boulevard
Impact 3.10.1d Project traffic would continue to cause Intersection 12 to operate below
acceptable levels of service in the AM and PM peak hours. This impact would
be less than significant with mitigation.
As shown in Figure 3.10-3 and Table 3.10-6, the intersection (Westborough Boulevard/I-280 NB
On-Ramp/Junipero Serra Boulevard) operates at an unacceptable LOS F during the AM peak
hour and at an acceptable LOS D during the PM peak hour. Traffic generated by the project
would cause the intersection to continue to operate at an unacceptable LOS F during the AM
peak hour and at an unacceptable LOS E during the PM peak hour. This would be a potentially
significant impact, and mitigation measure MM 3.10.1d would be required. The mitigation
measure would improve operations at the intersection to LOS E during the AM peak hour and
LOS D during the PM peak hour. While the intersection would still operate at an unacceptable
LOS E during the AM peak hour, traffic conditions would improve over existing conditions without
the project. Therefore, the revised project’s impacts would continue to be less than significant
with mitigation.
Mitigation Measures
MM 3.10.1d The City shall modify the signal timing to optimize the cycle length in the AM
and PM periods at the intersection of Westborough Boulevard/I-280 NB On-
Ramp/Junipero Serra Boulevard. The City shall also restripe the southbound
approach on Junipero Serra Boulevard to one left through lane, one shared
through/left turn lane, one through turn lane, and one right turn lane. The City
shall also add an eastbound left turn lane and a westbound left turn lane
along Westborough Boulevard.
Highway Level of Service Analysis
The results of the intersection level of service analysis, shown in Table 3.10-7, indicate that all
freeway segments would operate at acceptable service levels. Each freeway segment would
operate at LOS E for either the AM or PM peak hour. Because the project adds less than 1
percent of the freeway capacity and the volume-to-capacity ratio increases by less than 1
percent, the project would not significantly impact the freeway segments.
3.10 TRANSPORTATION AND CIRCULATION
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.10-32
TABLE 3.10-7
EXISTING AND EXISTING PLUS PROJECT HIGHWAY SEGMENT LOS
Intersection LOS
Standard
Existing (2016) Existing Plus Project
AM Peak PM Peak AM Peak PM Peak
Volume
(veh/hr) LOS V/C Volume
(veh/hr) LOS V/C Volume
(veh/hr) LOS V/C Volume
(veh/hr) LOS V/C
I-280 NB From
Avalon to
Westborough
D 6,269 D 0.712 8,032 E 0.913 6,277 D 0.713 8,079 E 0.918
I-280 NB from
Westborough
to Hickey
D 7,575 D 0.861 8,727 E 0.992 7,616 D 0.865 8,774 E 0.997
I-280 SB from
Hickey to
Westborough
D 7,179 D 0.816 8,073 E 0.917 7,187 D 0.817 8,120 E 0.923
I-280 SB from
Westborough
to Avalon
D 7,876 E 0.895 7,334 D 0.833 7,917 E 0.900 7,381 D 0.839
Source: Kimley-Horn 2017
Note: Segments that are operating below acceptable levels are shown in bold.
Result in a Change in Air Traffic Patterns (Standard of Significance 3)
Impact 3.10.2 Project implementation would not change air traffic patterns, increase traffic
levels, or change the location of air traffic. The impact would be less than
significant.
2011 ECR/C Area Plan Impacts
The proposed plan would not change any air traffic patterns, nor would it change the location
of air traffic approaching or departing San Francisco International Airport. Therefore, there
would be no impacts on air traffic (South San Francisco 2011b, p. 3.1-24).
Subsequent Project Impacts
The project would not change air traffic patterns, as the development would comply with
C/CAG height limits for the area. The project also not increase air traffic levels. The project does
not increase population beyond what was analyzed in the ECR/C EIR. Therefore, the impact
would continue to be less than significant.
Mitigation Measures
None required.
Increase Hazards Due to a Design Feature (Standard of Significance 4)
Impact 3.10.3 Project implementation would not increase hazards due to a design feature.
Impacts would be less than significant.
3.10 TRANSPORTATION AND CIRCULATION
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.10-33
2011 ECR/C Area Plan Impacts
The original EIR found that the ECR/C Area Plan would not increase hazards due to a design
feature or incompatible uses. The plan would increase the design quality of the planning area
through policies and design guidelines. Key guiding principles include maximizing active
frontages along key streets; developing the area with an overall character and urban design
scheme that promotes livability and sustainability; enhanced streetscape improvements, public
plazas, open spaces, and pedestrian connections; and enhanced linkages within the planning
area. The plan would not introduce any hazardous design features (South San Francisco 2011b,
p. 3.1-25).
Subsequent Project Impacts
The project would not increase hazards due to a design feature. The project does not change
area plan policies and design guidelines, and would follow applicable policies to ensure
compliance with the General Plan. Project roads on the eastern project site would comply with
all City standards. The revised project’s impact would be less than significant.
Mitigation Measures
None required.
Result in Inadequate Emergency Access (Standard of Significance 5)
Impact 3.10.4 Project implementation would not result in inadequate emergency access.
Impacts would be less than significant.
2011 ECR/C Area Plan Impacts
The original EIR found that the Area Plan would not change emergency vehicle access routes to
and around the planning area. Police and fire stations are located in the planning area, which
would result in a response time of 5 minutes or less. The plan would facilitate the Oak Avenue
extension, creating easier circulation from police and fire stations to the planning area. In
addition, emergency access to the planning area would remain the same, indicating that there
would be no impact on emergency access (South San Francisco 2011b, p. 3.1-25).
Subsequent Project Impacts
The project would not change emergency vehicle access routes to and around the project site.
The new fire and police stations may improve emergency response times in the area due to the
modernization of emergency facilities and equipment. The revised project’s impact would be
less than significant.
Mitigation Measures
None required.
Conflict with Adopted Policies, Plans, or Programs Regarding Public Transit, Bicycle, or
Pedestrian Facilities (Standard of Significance 6)
Impact 3.10.5 Project implementation would increase motor vehicle traffic and congestion
on roadways used by transit, bicyclists, and pedestrians. The project would
increase biking and pedestrian usage in the vicinity of the project site;
however, impacts would be less than significant.
3.10 TRANSPORTATION AND CIRCULATION
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.10-34
2011 ECR/C Area Plan Impacts
The original EIR concluded that the project would not have impacts on alternative
transportation. The Area Plan would help enhance linkages in the planning area by establishing
pedestrian, bicycle, and vehicular connections through the new development. Creating a
pedestrian-friendly realm would also encourage more walking (South San Francisco 2011b, p.
3.1-25).
Subsequent Project Impacts
Pedestrian Facilities
There are sidewalks and pedestrian paths along most of the roadways near the project site.
However, there are several gaps in the sidewalk network, with the largest on the west side of El
Camino Real from the BART access road to north of Arroyo Drive. Mission Road also lacks a
sidewalk on the west side from Oak Avenue to Grand Avenue. The project would increase
pedestrian use in the vicinity of the project site.
As described in the Regulatory Framework subsection above, the City adopted a Pedestrian
Master Plan to facilitate increased walking to local destinations in South San Francisco. With
implementation of the planned facilities identified in the Pedestrian Master Plan, the project site
would be served by roadways that would be safe and accessible for pedestrians. In addition,
the ECR/C Area Plan includes a proposed pedestrian trail connection to the Centennial Way
Trail, further enhancing the pedestrian facilities in the city. With the addition of the connection to
the Centennial Way Trail, the project would be served by adequate pedestrian facilities.
The implementation of this project would not interfere with the planned pedestrian
improvements outlined in the Pedestrian Master Plan or the ECR/C Area Plan. The project would
not create inconsistencies with adopted pedestrian system plans, guidelines, policies, or
standards.
Bicycle Facilities
There are several bicycle facilities in the project vicinity, and several are planned as part of the
ECR/C Area Plan. The proposed project would increase the demand on bicycle facilities in the
vicinity of the project site. As described in the Regulatory Framework subsection above, the City
adopted a Bicycle Master Plan to facilitate increased bicycling to local destinations in South San
Francisco. With implementation of the planned facilities identified in the Bicycle Master Plan, the
project site would be served by roadways that would be safe and accessible for bicyclists.
The project’s traffic generation and proposed site access would not interfere with existing or
planned bicycle facilities. During construction, work crews would use existing public roads to
transport equipment. Nonetheless, construction traffic would use approved routes and obey all
traffic laws.
The project would not interfere with any of the existing or proposed bicycle facilities, or conflict
with currently adopted goals or policies.
Transit Facilities
The project is expected to generate transit ridership. The current transit services in the area are
not running at full capacity; therefore, the additional passengers would be accommodated by
the existing services. In addition, the project-generated riders would be spread across the
various planned bus routes, resulting in a minimal effect on transit capacity. Therefore, this
impact would be less than significant.
3.10 TRANSPORTATION AND CIRCULATION
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.10-35
The project would not interfere with existing or planned pedestrian or bicycle facilities, transit
service or transit stops. Thus, the revised project’s impact on pedestrian, bicycle, and transit
facilities would be less than significant.
Mitigation Measures
None required.
3.10.5 CUMULATIVE SETTING, IMPACTS, AND MITIGATION MEASURES
CUMULATIVE SETTING
This subsection presents the intersection impacts under cumulative conditions and the level of
service standards and intersection operations. The same intersections and freeway segments
were analyzed in the ECR/C EIR and the Existing plus Project section above. Oak Avenue
currently ends at Mission Road. An extension to El Camino Real is included in the ECR/C EIR,
which, while not triggered by this project, was included in the cumulative 2030 analysis because
other projects in the area would trigger its construction. This extension would help alleviate traffic
congestion in the area by redistributing trips from El Camino Real, Chestnut Avenue, and Mission
Road. To analyze cumulative impacts on the project intersections and freeway segments, 2030
traffic volumes were calculated with and without traffic from the project, allowing the project’s
impacts to be analyzed. The LOS result and calculations are discussed in detail in the TIA
(Appendix TRA).
Cumulative Traffic Impacts
Impact 3.10.6 Based on project site circulation patterns and potential conflicts, the project’s
impact would be less than cumulatively considerable with mitigation on
applicable plans, ordinances, or policies establishing measures of
effectiveness for the performance of the circulation system.
2011 ECR/C Area Plan Impacts
The transportation impact analysis prepared for the ECR/C EIR analyzed the same intersections
and I-280 segments as the proposed project. Table 3.10-8 summarizes the findings of the ECR/C
EIR under existing plus project conditions.
3.10 TRANSPORTATION AND CIRCULATION
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.10-36
TABLE 3.10-8
ECR/C CUMULATIVE INTERSECTION TRANSPORTATION IMPACTS
Intersection ECR/C EIR Impact
1. El Camino Real/Hickey Boulevard Cumulatively significant, project contribution less than significant
with mitigation
2. El Camino Real/McLellan Boulevard Significant and unavoidable – mitigation involved the
construction of a third southbound lane along El Camino Real
3. El Camino Real/Arroyo Drive/Oak Extension Less than significant with mitigation
4. El Camino Real/Chestnut Avenue
Significant and unavoidable – mitigation involved the
construction of a second eastbound right turn land and a second
eastbound left turn lane
5. El Camino Real/Orange Avenue
Significant and unavoidable – the construction of a second
westbound right turn lane would require the taking of property
from a private business.
6. Mission Road/Grand Avenue Less than significant with mitigation
7. Chestnut Avenue/Grand Avenue Less than significant
8. Mission Road/Oak Avenue
Significant and unavoidable – the construction of additional
travel lanes would require additional right of way, which makes
the mitigation infeasible.
9. Mission Road/Chestnut Avenue Significant and unavoidable
10. Junipero Serra Boulevard/Arroyo Drive (Worst
Approach)
No impact. No project trips are being added to this intersection;
therefore, there is no impact at this intersection as a result of the
proposed Plan.
11. Westborough Boulevard/I-280 SB Off-Ramp Cumulatively significant, project contribution less than
significant.
12. Westborough Boulevard/I-280 NB On-Ramp/
Junipero Serra Boulevard
Cumulatively significant, project contribution less than significant
with improvements
Source: South San Francisco 2011b
The original EIR found that the project would have significant and unavoidable impacts under
the 2030 cumulative conditions plus project. Mitigation measures required the addition of right-
of-way along developed streets and were therefore infeasible. The mitigation involved the
restriping of streets to improve level of service, which was feasible in the existing plus project
scenario (South San Francisco 2011b, p. 3.1-27).
Subsequent Project Impacts on Cumulative (2030) plus Project Conditions
Intersection Level of Service Analysis
The results of the intersection level of service analysis, shown in Table 3.10-9, indicate that based
on the applicable significance criteria, seven study intersections would be significantly impacted
by the project under existing plus project conditions. Figure 3.10-4, Cumulative plus Project
Conditions, shows the cumulative plus project traffic volumes for each intersection.
J
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FIGURE 12
CUMULATIVE PLUS PROJECT CONDITION
N
NOT TO SCALE
PEAK HOUR TURNING MOVEMENT VOLUMES
1
2
3
4
5
6
7
8
12
11
10
9
LEGEND
STUDY AREA
INTERSECTIONS
AM(PM) PEAK HOUR
VOULMESAM/(PM)
X
EL CAMINO - CHESTNUT
PLAN AREA
1 2 3 4
5 6 7 8
9 10 11 12
Source: Kimley HornSource: Kimley HornSource: Kimley Horn
T:
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FIGURE 3.10-4
Cumulative Plus Project ConditionsNot To Scale
3.10 TRANSPORTATION AND CIRCULATION
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.10-39
The following study intersections would operate unacceptably under cumulative (2030) no
project conditions:
Intersection 1 – El Camino Real and Hickey Boulevard (AM and PM peak hours)
Intersection 2 – El Camino Real and McLellan Drive (AM peak hour)
Intersection 4 – El Camino Real and Chestnut Avenue (AM and PM peak hours)
Intersection 5 – El Camino Real and Orange Avenue (AM and PM peak hours)
Intersection 8 – Mission Road and Oak Avenue (AM peak hour)
Intersection 10 – Junipero Serra Boulevard and Arroyo Drive (AM and PM peak hours)
Intersection 12 – Westborough Boulevard and I-280 NB On-Ramp (AM and PM peak
hours)
TABLE 3.10-9
CUMULATIVE (2030) PLUS PROJECT INTERSECTION LEVELS OF SERVICE
Intersection LOS
Standard Control
Existing (2030) Existing Plus Project
AM Peak PM Peak AM Peak PM Peak
LOS Delay LOS Delay LOS Delay LOS Delay
1. El Camino Real/
Hickey Boulevard D Signal F 176.5 F 178.6 F 187.4 F 2
2. El Camino Real/
McLellan Boulevard D Signal E 62.8 D 45.2 E 67.4 D 53.4
3. El Camino Real/
Arroyo Drive/Oak
Extension
D Signal D 37.7 C 30.8 D 42.0 C 33.8
4. El Camino Real/
Chestnut Avenue D Signal F 127.4 F 97.2 F 139.3 F 129.5
5. El Camino Real/
Orange Avenue D Signal E 72.6 F 105.5 E 75.7 F 110.4
6. Mission Road/
Grand Avenue D AWSC C 22.4 C 23.1 D 25.1 D 27.7
7. Chestnut Avenue/
Grand Avenue D Signal D 49.7 D 42.1 D 52.8 D 44.4
8. Mission Road/
Oak Avenue D SSSC A 5.8 A 1.3 A 7.2 A 1.3
Worst Approach E 30.8 B 14.1 E 39.6 B 14.8
9. Mission Road/
Chestnut Avenue D Signal C 27.6 C 28.2 C 30.3 C 33.9
10. Junipero Serra
Boulevard/Arroyo
Drive (Worst
Approach)
D SSSC F 76.5 D 28.9 F 76.5 D 28.9
Worst Approach F 674.1 F 322.7 F 674.1 F 322.7
11. Westborough
Boulevard/I-280 SB
Off-Ramp
D Signal B 10.6 D 41.9 B 10.9 D 48.9
12. Westborough
Boulevard/I-280 NB
On-Ramp/Junipero
Serra Boulevard
D Signal F 265.1 F 196.0 F 278.9 F 216.0
South: Kimley Horn 2017
Note: Intersections that are operating below acceptable levels are shown in bold and significant impacts are highlighted.
3.10 TRANSPORTATION AND CIRCULATION
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.10-40
Project Impacts and Mitigation Measures for Cumulative (2030) plus Project Conditions
Intersection 1 – El Camino Real and Hickey Boulevard
Impact 3.10.6a Project traffic would cause Intersection 1 to continue operating below
acceptable levels of service for the AM and PM peak hours with an increase
of more than 4 seconds of delay at the intersection. The project’s contribution
would be less than cumulatively considerable with mitigation.
As shown in Figure 3.10-4 and Table 3.10-9, the intersection (El Camino Real/Hickey Boulevard) is
projected to operate at an unacceptable LOS F during the AM and PM peak hours under
cumulative (2030) no project conditions. The intersection would continue to operate at LOS F
after the addition of project traffic with an additional delay for 4 or more seconds. This would be
a cumulatively considerable impact, and mitigation measure MM 3.10.1a, described in Impact
3.10.1 above, would be required. With implementation of mitigation measure MM 3.10.1a, the
intersection would continue to operate at LOS F during both the AM and PM peak hours, but
with an overall intersection delay less than the cumulative (2030) no project scenario. This would
reduce the revised project’s contribution to cumulative conditions to less than cumulatively
considerable with mitigation.
Mitigation Measures
See mitigation measure MM 3.10.1a.
Intersection 2 – El Camino Real and McLellan Drive
Impact 3.10.6b Project traffic would cause Intersection 2 to continue operating below
acceptable levels of service for the AM peak hour and would cause an
increase of more than 4 seconds at the intersection. The project’s contribution
would be less than cumulatively considerable with mitigation.
As shown in Figure 3.10-4 and Table 3.10-9, the intersection (El Camino Real and McLellan Drive)
is projected to operate at an unacceptable LOS E during the AM peak hour under the
cumulative (2030) no project condition. With project traffic, the intersection would continue to
operate at LOS E and would increase delay by 4 or more seconds. This would be a cumulatively
considerable impact, and mitigation measure MM 3.10.6b would be required. With
implementation of this measure, the intersection would operate at an acceptable LOS D for the
AM peak period under the cumulative (2030) plus project scenario. This would mitigate the
impact, and the revised project’s contribution would be less than cumulatively considerable
with mitigation.
Mitigation Measures
MM 3.10.6b The City shall modify the signal timing at the intersection of El Camino Real
and McLellan Drive to remove split phasing and optimize the cycle length in
the AM peak hour. The City shall also restripe the eastbound approach on
McLellan Drive to one left turn late and one shared through/right turn lane
and restripe the westbound approach on McLellan Drive to one left turn lane,
one shared through/right turn lane, and one right turn lane.
3.10 TRANSPORTATION AND CIRCULATION
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.10-41
Intersection 4 – El Camino Real and Chestnut Avenue
Impact 3.10.6c Project traffic would cause Intersection 4 to operate at below acceptable
levels of service for the AM and PM peak hours. The project’s contribution
would be less than cumulatively considerable with mitigation.
As shown in Figure 3.10-4 and Table 3.10-9, the intersection (El Camino Real and Chestnut
Avenue) is projected to operate at an unacceptable LOS F during the AM and PM peak hours in
the cumulative (2030) no project scenario. With the addition of project traffic, the intersection is
projected to continue to operate at LOS F with an added delay of 4 or more seconds. This would
be a cumulatively considerable impact, and mitigation measure MM 3.10.6c would be required.
With implementation of this measure, the intersection would continue to operate at LOS F during
both the AM and PM peak hours, but with an overall intersection delay less than the cumulative
(2030) no project scenario. Improvements required by the mitigation measure would likely fit in
the existing right-of-way.
Additionally, South San Francisco General Plan Policy 4.2-G-14 allows for an LOS E or LOS F if
there is no practical and feasible way to mitigate the impact and if the proposed uses are of
clear and overall public benefit. The project objectives, detailed in Section 2.0, Project
Description, include providing programs for seniors and disabled residents, as well as the
improvement of emergency response times. Because the project achieves these objectives, it
would create an overall public benefit. Therefore, if the intersection would continue to operate
at LOS F or LOS E, the City would not consider it a significant impact. Nonetheless, the revised
project’s contribution to cumulative conditions would be less than cumulatively considerable
with mitigation.
Mitigation Measures
MM 3.10.6c The City shall optimize the traffic signal cycle length in both the AM and PM
peak hours. The City shall also modify traffic signal operations at the
intersection of El Camino Real and Chestnut Avenue to include a right turn
overlap phase for vehicles traveling eastbound on Chestnut Avenue. If
feasible within the existing right-of-way, the City shall also add an eastbound
left turn lane from Chestnut Avenue to El Camino Real.
Intersection 5 – El Camino Real and Orange Avenue
Impact 3.10.6d Project traffic would cause Intersection 5 to continue operating below
acceptable levels of service for the AM and PM peak periods with an
increase of more than 4 seconds of delay at the intersection. The project’s
contribution would be less than cumulatively considerable with mitigation.
As shown in Figure 3.10-4 and Table 3.10-9, the intersection (El Camino Real and Orange
Avenue) is projected to operate at an unacceptable LOS E during the AM peak hour and at an
unacceptable LOS F during the PM peak hour under the cumulative (2030) no project
conditions. With the addition of project traffic, the intersection would continue to operate at LOS
E during the AM peak hour and LOS F during the PM peak hour with an increased delay of 4 or
more seconds. This would be a cumulatively considerable impact, and mitigation measure MM
3.10.6d would be required.
With this improvement, the intersection would continue to operate at an unacceptable LOS E
during the AM peak hour and at an unacceptable LOS F during the PM peak hour, but with a
3.10 TRANSPORTATION AND CIRCULATION
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.10-42
shorter delay when compared to the cumulative (2030) no project scenario. With mitigation
measure MM 3.10.6d, the revised project’s contribution to cumulative conditions would be less
than cumulatively considerable with mitigation.
Mitigation Measures
MM 3.10.6d The City shall modify the southbound lane geometry on El Camino Real to
include a southbound left turn lane.
Intersection 8 – Mission Road and Oak Avenue
Impact 3.10.6e Project traffic would cause Intersection 8 to continue operating below
acceptable levels of service for the AM peak period with an increase of more
than 4 seconds of delay at the intersection. The project’s contribution would
be less than cumulatively considerable with mitigation.
As shown in Figure 3.10-4 and Table 3.10-9, the intersection (Mission Road and Oak Avenue)
would operate at an unacceptable LOS E during the AM peak hour under the cumulative (2030)
no project scenario. The intersection would continue to operate at LOS E after the addition of
project traffic with an added delay of 4 or more seconds. This would be a cumulatively
considerable impact, and mitigation measure MM 3.10.6e would be required.
With implementation of this measure, the intersection would operate at an acceptable LOS D
during the AM peak period. Therefore, the revised project’s contribution to the overall
cumulative conditions would be less than cumulatively considerable with mitigation impact.
Mitigation Measures
MM 3.10.6e The City shall restripe the eastbound approach of Oak Avenue to be one left
turn lane and one shared through/right turn lane. The City shall restripe the
westbound approach of Oak Avenue to be one left turn lane and one shared
through/right turn lane. The City shall also construct a two-way left turn lane
along Mission Road.
Intersection 10: Westborough Boulevard/I-280 NB On-Ramp/Junipero Serra Boulevard
Impact 3.10.6f Intersection 10 would operate below acceptable levels of service in the AM
and PM peak hours under the cumulative (2030) no project scenario. The
project would have no impact.
As shown in Figure 3.10-4 and Table 3.10-9, the intersection (Westborough Boulevard/I-280 NB
On-Ramp/Junipero Serra Boulevard) operates at an unacceptable LOS F during the AM and PM
peak hours. Traffic generated by the project was found to add no traffic to the intersection and
as such, would not exacerbate the traffic delay. Therefore, the revised project would have no
impact.
Mitigation Measures
None required.
Intersection 12 – Westborough Boulevard and I-280 NB On-Ramp
3.10 TRANSPORTATION AND CIRCULATION
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.10-43
Impact 3.10.6g Project traffic would cause Intersection 12 to continue operating below
acceptable levels of service for the AM and PM peak periods with an
increase of more than 4 seconds of delay at the intersection. The project’s
contribution would be less than cumulatively considerable.
As shown in Figure 3.10-4 and Table 3.10-9, Intersection 12 (Westborough Boulevard and I-280 NB
On-Ramp) would operate at an unacceptable LOS F during the AM and PM peak hours under
the cumulative (2030) no project scenario. With the addition of project traffic, the intersection
would continue to operate at LOS F with an added delay of 4 or more seconds. This would be a
cumulatively considerable impact, and mitigation measure MM 3.10.1d, described under
impact 3.10.1d above, would be required.
With implementation of mitigation measure MM 3.10.1d, the intersection would continue to
operate at LOS F during both the AM and PM peak hours, but with an overall intersection delay
less than the cumulative (2030) no project scenario. With mitigation measure MM 3.10.1d, the
revised project’s contribution to cumulative impacts would be less than cumulatively
considerable with mitigation.
Mitigation Measures
Implement mitigation measure MM 3.10.1d.
Highway Level of Service Analysis
The results of the intersection LOS analysis, shown in Table 3.10-10, indicate that the project
would not have a significant impact on freeway segments. With the additional project trips
added to the four freeway segments, the segments would continue to operate at an
acceptable level of service in the Cumulative (2030) Plus Project scenario. Therefore, the project
would not have an impact on these freeway segments.
TABLE 3.10-10
CUMULATIVE (2030) AND CUMULATIVE (2030) PLUS PROJECT HIGHWAY SEGMENT LOS
Intersection LOS
Standard
Cumulative (2030) Cumulative (2030) plus Project Conditions
AM Peak PM Peak AM Peak PM Peak
Volume
(veh/hr) LOS V/C Volume
(veh/hr) LOS V/C Volume
(veh/hr) LOS V/C Volume
(veh/hr) LOS V/C
I-280 NB From
Avalon to
Westborough
D 6,602 C 0.6008,484 D 0.771 6,610 C 0.601 8,531 D 0.776
I-280 NB from
Westborough
to Hickey
D 8,541 D 0.7769,225 D 0.8398,582 D 0.780 9,272 D 0.843
I-280 SB from
Hickey to
Westborough
D 7,847 D 0.713 9,434 D 0.858 7,855 D 0.714 9,481 D 0.862
I-280 SB from
Westborough
to Avalon
D 8,813 D 0.801 8,223 D 0.748 8,854 D 0.805 8,270 D 0.752
3.10 TRANSPORTATION AND CIRCULATION
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.10-44
3.10.6 REFERENCES
Caltrans (California Department of Transportation). 2002. Guide for the Preparation of Traffic
Impact Studies.
———. 2015. Highway Design Manual.
C/CAG (City/County Association of Governments of San Mateo County). 2012. Comprehensive
Airport Land Use Plan for the Environs of San Francisco International Airport.
Kimley-Horn. 2017. Transportation Impact Analysis, El Camino Real/Chestnut Avenue Area Plan
Update.
South San Francisco, City of. 2011a. El Camino Real/Chestnut Avenue Area Plan – General Plan
Amendment.
———. 2011b. City of South San Francisco El Camino Real/Chestnut Avenue Area Plan, and
associated General Plan Amendment, and Zoning Ordinance Amendment. Final
Environmental Impact Report.
———. 2011c. Bicycle Master Plan.
———. 2014a. South San Francisco General Plan.
———. 2014b. South San Francisco Pedestrian Master Plan.
Transportation Research Board. 2010. Highway Capacity Manual.
3.11 UTILITIES AND SERVICE SYSTEMS
3.11 UTILITIES AND SERVICE SYSTEMS
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.11-1
This section describes utility systems in the project area and analyzes the potential for the proposed
project to result in the need for new or expanded water, wastewater, storm drainage, solid waste,
or energy facilities.
3.11.1 SEIR SUMMARY TABLE
A summary of the Community Civic Campus Project impact conclusions related to utilities and
service systems is provided below.
Impact Number Impact Topic Impact Significance
3.11.1 Water supply and infrastructure Less than significant
3.11.2 Wastewater conveyance and treatment Less than significant
3.11.3 Storm drainage systems Less than significant
3.11.4 Solid waste Less than significant
3.11.5 Cumulative utilities and service systems impacts Less than cumulatively considerable
Impacts identified in the El Camino Real/Chestnut Avenue Area Plan Environmental Impact
Report (ECR/C EIR) are summarized with the project impacts in subsection 3.11.4.
3.11.2 EXISTING SETTING
WATER SUPPLY AND INFRASTRUCTURE
2011 ECR/C Area Plan Setting
Water Supply
As described in the ECR/C EIR, the potable water supply for South San Francisco is provided by
California Water Service (Cal Water) and the Westborough Water District (WWD). Cal Water serves
the portion of the city east of Interstate 280 (I-280), which represents a majority of the city’s area,
and the WWD serves the portion west of I-280. The ECR/C Area Plan is within Cal Water’s South San
Francisco District, which also includes Colma and the Broadmoor District. Cal Water receives water
from the City and County of San Francisco's regional system operated by the San Francisco Public
Utilities Commission (SFPUC). Cal Water’s individual supply assurance is 35.39 million gallons per
day (mgd). Acquisition of the Los Trancos County Water District in July 2005 increased Cal Water’s
total supply assurance allocation to 35.5 mgd. Part of this supply is used to meet the demand in
the South San Francisco District. The supply assurance, which quantified San Francisco’s obligation
to supply water to its individual wholesale customers, continues indefinitely even if the master
contract and accompanying water supply contract expire.
Cal Water serves single-family and multi-family residential, commercial, industrial, and government
uses. Residential connections accounted for 85.5 percent of services. Approximately 81 percent
of the 2005 demand in the South San Francisco District was associated with single-family residential
(38.8 percent) and commercial (41.8 percent) uses (South San Francisco 2011b, Table 3.7-1). Data
reported in the ECR/R EIR was obtained from Cal Water’s 2006 Urban Water Management Plan
(UWMP), which was the most current UWMP at that time.
3.11 UTILITIES AND SERVICE SYSTEMS
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.11-2
Water Distribution Infrastructure
The existing water distribution system consists primarily of 8-, 12- and 16-inch pipelines within
roadways. At the time the ECR/C Area Plan and EIR were prepared, the existing water distribution
system serving the planning area for the ECR/C Area Plan was reported to generally be in good
condition and able to support the development proposed in the ECR/C Area Plan without the
need for major repairs or upgrades to the existing system. Extension of water mains would be
required along with service connections to each new building. The need for an extension of the
water main in El Camino Real from the south entry of Kaiser Hospital to Chestnut Avenue to serve
the vacant land between the hospital and Chestnut Avenue, west of the BART tunnel, was
identified because there is no water main in those parcels (South San Francisco 2011a, 2011b).
The vacant land immediately north of Chestnut Avenue and east of El Camino Real was proposed
to include a mix of primarily retail (110,600 square feet), office (73,000 square feet), and
public/institutional (50,000 square feet), with some residential uses.
Current Conditions
Water Supply
Cal Water’s South San Francisco District remains the current water supplier for South San Francisco,
and it adopted its 2015 UWMP in June 2016. Since 2006, Interim Supply Allocations (ISAs) have
been determined for San Francisco’s and each individual wholesale customer’s share of the
Interim Supply Limitation (ISL). On December 14, 2010, the SFPUC established each agency’s ISA
through 2018. In general, the SFPUC based the wholesale customer allocations on the lesser of the
projected fiscal year 2017–18 purchase projections or Individual Supply Guarantees (ISG). The ISAs
are effective only until December 31, 2018, and do not affect the supply assurance or the ISGs.
San Francisco’s Interim Supply Allocation is 81 mgd. Cal Water’s total ISA for the three districts in its
service area is 35.68 mgd (Cal Water 2016), which is similar to 2006 conditions.
There has been little change in the distribution of services or demands by customer type since
2006. As reported in the 2015 UWMP, residential customers account for approximately 86 percent
of services and 40 percent of water use, similar to previous conditions. Commercial demand is
approximately 45 percent, approximately 3 percent more than 10 years ago (Cal Water 2016,
Table 4-1 and Figure 4-1). Since 2006, several laws and regulations have been enacted and
adopted to reduce demand (e.g., Senate Bill [SB] X7-7, CALGreen, and drought restriction
requirements, among others).
The 2015 UWMP concluded that the South San Francisco District has a sufficient water supply
during years under normal conditions. However, during one-year or multiyear droughts, shortfalls
of up to 20 percent or more are projected. Under such conditions, Cal Water will implement its
Water Shortage Contingency Plan. In recent drought years, customers were asked to reduce their
demand by 8 percent as specified by the State Water Resources Control Board. The South San
Francisco District exceeded this amount (20 percent reduction based on June 2015 to March 2016
totals). Cal Water is also working toward increasing the water supply portfolio for the South San
Francisco District (Cal Water 2016).
Project Site Water Distribution Infrastructure
There has been no development on the vacant parcels in the eastern project site. Water
distribution improvements identified in the Area Plan that would serve the eastern project site have
not been constructed and would be necessary as part of the project.
3.11 UTILITIES AND SERVICE SYSTEMS
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.11-3
WASTEWATER TREATMENT AND CONVEYANCE
2011 ECR/C Area Plan Setting
Wastewater Treatment
As described in the ECR/C EIR, all wastewater produced in South San Francisco is treated at the
City’s Water Quality Control Plant (WQCP), which also treats water from San Bruno. As described
in the ECR/C EIR, the plant is permitted by the San Francisco Bay Regional Water Quality Control
Board (RWQCB) and has an average dry weather flow (ADWF) design capacity of 13 mgd. The
permit was issued in 2008. The City has an allocation treatment capacity of 8.74 mgd. The average
wastewater flow reported in the 2011 ECR/C EIR was 9.2 mgd for 2008, with average peak wet
weather flows approaching 30 mgd (South San Francisco 2011b).
Sewer Infrastructure
The City operates and maintains sewer infrastructure. The planning area is served by two 18-inch
trunk lines in Mission Avenue, an 18-inch trunk line in the future Oak Avenue extension, and smaller-
diameter pipes that serve the existing developments at Buri Buri Center and Chestnut Center south
of Chestnut Avenue. The existing 12-inch line south of Chestnut Avenue runs in an easement on
private property and will need to be relocated within the parcel to accommodate new
development. Existing lines in the planning area are connected to a 24-inch line at the intersection
of Mission and Chestnut avenues that flows south to the treatment plant.
Current Conditions
Wastewater Treatment
Wastewater flows from South San Francisco (and San Bruno) continue to be treated at the WQCP.
The WQCP’s permit was renewed in 2014 by the San Francisco Bay RWQCB, and the ADWF design
capacity remains at 13 mgd (San Francisco Bay RWQCB 2014). In 2016, influent flows were 8.27
mgd, which is slightly less than that reported for 2011 (Schumacker 2017). Therefore, there is still
sufficient permitted influent capacity at the WQCP. The City’s 2016/17 Capital Improvement
Program identifies a number of sewer improvement projects, but none in the planning area (South
San Francisco 2016).
Project Site Sewer Infrastructure
The western project site is fully developed and has sewer infrastructure. There has been no
development on the vacant parcels in the eastern project site. Sewer improvements identified in
the Area Plan that would serve the eastern project site have not been constructed and would be
necessary as part of the project.
STORM DRAIN FACILITIES
2011 ECR/C Area Plan Setting
Most of the stormwater runoff in the planning area is conveyed to a network of drain inlets and
pipes that discharge to Colma Creek. The planning area is largely developed with impervious
surfaces (approximately 80 percent of the developable area consists of impervious surfaces such
as roofs and parking), and underlying soils have low permeability, which limits infiltration. The City
requires all new development and redevelopment to incorporate stormwater quality best
management practices in drainage design to reduce urban pollutants discharged in stormwater
to Colma Creek.
3.11 UTILITIES AND SERVICE SYSTEMS
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.11-4
All development proposals must meet the requirements of the San Mateo County Clean Water
Program, which mandates management of the quantity (as well as quality) of stormwater runoff.
All new development is also required to provide stormwater control and treatment as an integral
part of the site layout and landscape design. The network of open space corridors and siting of
all buildings adjacent to open space will allow significant opportunities for stormwater runoff to
discharge to the landscape areas for treatment, infiltration, detention, and evaporation, which
will minimize the need for extensive new storm drain pipes. The use of permeable pavement will
also provide opportunity for infiltration. Stormwater Control Plans, which would apply to municipal
facilities, must be consistent with the Provision C.3 of San Mateo Countywide Water Pollution
Prevention Program Technical Guidance Manual, which includes many options for site control
and treatment of runoff.
Current Conditions
Project Site
The western project site and the parcel with an existing structure are developed with impervious
surfaces such as buildings and parking areas. Runoff is conveyed to the City’s storm drain system
from those locations and is discharged to Colma Creek. There has been no development on the
vacant parcels or storm drainage system capacity improvements on the eastern project site.
SOLID WASTE
2011 ECR/C Area Plan Setting
The ECR/C EIR stated that solid waste is collected from South San Francisco and is processed at
the South San Francisco Scavenger Company [now called Blue Line] materials recovery facility
and transfer station (MRF/TS). Materials that cannot be recycled or composted are transferred to
the Ox Mountain Sanitary Landfill [now called Corinda Los Trancos Landfill], near Half Moon Bay.
In 2008, the total amount of solid waste from South San Francisco disposed of at the landfill was
88,674 tons. As of 2011, the operator of the landfill had obtained a revised solid waste facility
permit to increase permitted disposal capacity and to change the closure date of the landfill,
with a longer period of operation allowed pending renewal of the permit. Evaluation of volumetric
capacity (i.e., cubic yards) is an ongoing process. The ECR/C EIR noted that capacity may
change depending on various factors, which may change the closure date. Waste diversion
programs have reduced South San Francisco’s waste stream substantially, and in 2006, the City
met the state’s requirement of 50 percent for waste diversion (South San Francisco 2011b).
Current Conditions
The Blue Line MRF/TS processes solid waste collected in the city. Most solid waste generated in the
city continues to be disposed of at the Corinda Los Trancos Landfill. In 2015, the City disposed of
approximately 81,800 tons at Corinda Los Trancos (CalRecycle 2017), which is less than in 2008.
Other solid waste generated in the city was disposed of at the Newby Island Sanitary Landfill
(approximately 12,800 tons). The current total maximum permitted capacity at the Corinda Los
Trancos Landfill is 69 million cubic yards. As of 2015, the landfill’s remaining capacity was 22.18
million cubic yards (CalRecycle 2017). As in 2011, although the existing permit expires in 2018, this
does not indicate the landfill would close and would no longer accept waste after 2018. Solid
waste facility permits are periodically renewed and estimates of remaining capacity are updated.
3.11 UTILITIES AND SERVICE SYSTEMS
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.11-5
Project Site
The western project site is developed, with natural gas and electricity provided by PG&E, as
described above. The high-pressure gas line and electric transmission facilities are in the eastern
project site.
3.11.3 REGULATORY FRAMEWORK
FEDERAL AND STATE
The ECR/C EIR identified and described several laws and associated regulations pertaining to
drinking water quality (federal Clean Water Act [CWA] and state Porter-Cologne Water Quality
Control Act), wastewater discharges from wastewater treatment plants and stormwater runoff
(CWA and associated National Pollutant Discharge Elimination System [NPDES] regulations), solid
waste (federal Resource Conservation and Recovery Act and state California Integrated Waste
Management Act and recycling requirements), and energy generation and distribution by public
utility providers such as PG&E (South San Francisco 2011b).
Cal Water, the City of South San Francisco (at the Water Quality Control Plant), solid waste
collection and landfill operators, and PG&E are responsible for ensuring compliance with
applicable regulations at the facility level. The following summarizes state and local laws and
regulations that are relevant and specific to the construction and operation of the proposed
project.
STATE
Water Supply Assessments – California Water Code Section 10910
Pursuant to California Water Code Section 10910 (Senate Bill 610 [Chapter 643, Statutes of 2001]),
cities and counties acting as lead agencies request that water purveyors prepare water supply
assessments for certain projects (as defined in Water Code Section 10912) subject to the California
Environmental Quality Act (CEQA). Projects under SB 610 are defined under Water Code Section
10912(a) as meeting specific criteria, including but not limited to proposed residential
development of more than 500 dwelling units; proposed commercial, shopping center, or
industrial use of certain sizes; or a project that would demand an amount of water equivalent to,
or greater than, the amount of water required by a 500-dwelling-unit project. The water supply
assessment requirements under SB 610 do not apply to area plans but only to development
projects as defined in the Water Code. The project is not proposing new uses, but rather
continuation and relocation of specific City functions to the planning area, and it would not result
in a water demand equivalent to or greater than a 500-dwelling-unit project. As such, SB 610 does
not apply. The water demand and supply planning described in Cal Water’s 2015 UWMP is
appropriate for the project analysis.
California Green Building Standards Code
The 2016 California Green Building Standards Code, known as CALGreen (California Code of
Regulations [CCR] Title 24, Part 11), is a portion of the California Building Code (CBC), and became
effective with the rest of the CBC on January 1, 2017. The provisions of the code apply to the
planning, design, operation, construction, use, and occupancy of every newly constructed
building or structure throughout California. The City of South San Francisco has adopted the 2016
CALGreen regulations by reference (Municipal Code Section 15.22.010).
3.11 UTILITIES AND SERVICE SYSTEMS
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.11-6
California Energy Code
The 2016 California Energy Code (Building Energy Efficiency Standards, CCR Title 24, Part 6), a
portion of the CBC, expands upon energy efficiency measures from the 2013 Building Energy
Efficiency Standards, resulting in a 28 percent reduction in energy consumption from the 2013
standards for residential structures. Energy reductions relative to previous Building Energy Efficiency
Standards would be achieved through various measures including requirements for the use of
high-efficiency lighting, improved water heating system efficiency, and high performance attics
and walls. The City of South San Francisco has adopted the 2016 California Energy Code
regulations by reference (Municipal Code Section 15.26.010).
Solid Waste Diversion
Assembly Bill (AB) 939, the California Integrated Waste Management Act enacted in 1997,
mandated that all jurisdictions in the state divert at least 50 percent of solid waste by 2000 through
source reduction, composting, and recycling activities. In 2011, Governor Brown signed AB 341
(Chesbro, Chapter 476, Statutes of 2011), which established a policy goal for the state that not
less than 75 percent of solid waste generated be source-reduced, recycled, or composted by the
year 2020. AB 341 requires businesses that generate 4 or more cubic yards of waste per week to
recycle, among other requirements. AB 1826 (Chesbro, Chapter 727, Statutes of 2014), signed by
Governor Brown in 2014, establishes requirements for businesses to recycle their organic waste,
depending on the amount generated per year. South San Francisco has implemented these
policies through programs run by the South San Francisco Scavenger Company.
REGIONAL
Municipal Regional Stormwater Permit
South San Francisco is one of 20 cities in San Mateo County that, together with other jurisdictions
in Alameda, Contra Costa, and Santa Clara counties, are regulated under Joint Municipal NPDES
Permit Municipal Regional Stormwater Permit [MRP] No. CAS612008 Order No. R2-2015-0049 issued
by the San Francisco Bay Regional Water Quality Control Board. Implementation of the MRP
requirements in San Mateo County are administered and monitored through the San Mateo
Countywide Water Pollution Prevention Program.1 The reader is referred to Section 3.8, Hydrology
and Water Quality, for additional information on the MRP and the County program.
LOCAL
City of South San Francisco General Plan
The General Plan policies that are relevant to the proposed project related to utilities and service
systems are listed below.
5.3-G-l Promote the orderly and efficient operation and expansion of the water supply
system to meet projected needs.
5.3-G-2 Encourage water conservation measures for both existing and proposed
development.
1 Formerly called the San Mateo Countywide Storm Water Pollution Prevention Program (STOPPP).
3.11 UTILITIES AND SERVICE SYSTEMS
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July 2017 Draft SEIR
3.11-7
5.3-I-2 Establish guidelines and standards for water conservation and actively promote
the use of water-conserving devices and practices in both new construction and
major alterations and additions to existing buildings.
5.3-I-1 Work with California Water Service Company and Westborough County Water
District to ensure coordinated capital improvements with respect to the extent and
timing of growth.
5.3-G-4 Promote the orderly and efficient operation and expansion of the wastewater
system to meet projected needs.
8.3-G-1 Reduce the generation of solid waste, including hazardous waste, and recycle
those materials that are used, to slow the filling of local and regional landfills, in
accord with the California Integrated Waste Management Act of 1989.
8.3-I-1 Continue to work toward reducing solid waste, increasing recycling, and
complying with the San Mateo County Integrated Waste Management Plan.
City of South San Francisco Municipal Code
Municipal Code, Title 8, Health and Welfare, Chapter 8.28, Recyclable Materials, sets forth
standards regarding separation of recyclables for collection. Title 15, Building and Construction,
establishes diversion and recycling requirements. The City of South San Francisco is mandated by
the State of California to divert 65 percent of all solid waste from landfills either by reusing or
recycling. To help meet this goal, as it relates to demolition activities, the City requires completion
of a waste management plan for covered building projects identifying how at least 65 percent of
non-inert project waste materials and 100 percent of inert materials (65/100) will be diverted from
the landfill through recycling and salvage.
El Camino Real/Chestnut Avenue Area Plan
The Area Plan contains the following policies that are applicable to the analysis of utilities and
service systems:
UD-7 Ensure that development incorporates green building and site design measures
such as energy-efficient building design, passive heating/cooling strategies,
permeable paving, low-water-consumption planting, and stormwater
management.
DG-40 Extensive and Intensive green roofs will manage stormwater runoff, reduce energy
consumption through insulation, and provide common open space for residential
units. Soil layers are typically two to six inches deep for Extensive roofs and eight to
24 inches deep for Intensive roofs, depending on the loading capacity of the roof
and the architectural and plant features desired. All green roofs must be designed
to permit routine maintenance and irrigation as necessary.
3.11 UTILITIES AND SERVICE SYSTEMS
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.11-8
3.11.4 IMPACTS AND MITIGATION MEASURES
STANDARDS OF SIGNIFICANCE
This analysis evaluates the project’s impacts from utilities and service systems based on the
standards identified in CEQA Guidelines Appendix G. The impact analysis also considers CEQA
Guidelines Appendix F pertaining to energy conservation. A utilities and service systems impact is
considered significant if the project would:
1) Exceed wastewater treatment requirements of the applicable Regional Water Quality
Control Board.
2) Require or result in the construction of new water or wastewater treatment facilities or
expansion of existing facilities, the construction of which could cause significant
environmental effects.
3) Require or result in the construction of new stormwater drainage facilities or expansion of
existing facilities, the construction of which could cause significant environmental effects.
4) Have sufficient water supplies available to serve the project from existing entitlements and
resources, or are new or expanded entitlements be needed.
5) Result in a determination by the wastewater treatment provider which serves or may serve
the project that it does not have adequate capacity to serve the project’s projected
demand in addition to the provider’s existing commitments.
6) Be served by a landfill with insufficient permitted capacity to accommodate the project’s
solid waste disposal needs.
7) Be noncompliant with federal, state, and local statutes and regulations related to solid
waste.
For purposes of the analysis, “wasteful” and “inefficient” are circumstances in which the proposed
project would conflict with applicable state or local energy legislation, policies, and standards, or
result in increased per capita energy consumption.
Changes in the CEQA Guidelines
There have been no changes in the CEQA Guidelines since 2011 that are relevant to the analysis
of utilities and service systems impacts.
METHODOLOGY
The following qualitative impact analysis is based on a review of the analysis completed in the
project area for the ECR/C EIR, supplemented with current information from utility providers.
3.11 UTILITIES AND SERVICE SYSTEMS
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.11-9
PROJECT IMPACTS AND MITIGATION MEASURES
Water Supply and Infrastructure (Standards of Significance 2 and 4)
Impact 3.11.1 Project occupancy would use potable water and would require connections
to the existing water distribution infrastructure. This impact would be less than
significant.
ECR/C Area Plan Impacts
The ECR/C EIR stated that the population growth associated with the El Camino Real/Chestnut
Avenue Area Plan (a combination of residential and nonresidential) uses would increase the
demand for water in the Cal Water Service area, but such growth would be within the UWMP
projections. The vacant land immediately north of Chestnut Avenue and east of El Camino Real
was proposed to include a mix of primarily retail (110,600 square feet), office (73,000 square feet),
and public/institutional (50,000 square feet) with some residential uses. The ECR/C EIR concluded
that the Area Plan would not require additional water supply beyond that available from existing
entitlements and resources, as planned for in the 2006 UWMP, and impacts would be less than
significant (South San Francisco 2011b).
The ECR/C Area Plan and EIR acknowledged the need for the extension of water distribution
infrastructure for the planning area, including a water main extension in El Camino Real between
Kaiser Hospital and Chestnut Avenue to serve the vacant land between the hospital and Chestnut
Avenue (South San Francisco 2011a, 2011b). However, major repairs or upgrades were
determined not to be necessary, and impacts on distribution system capacity were identified as
less than significant (South San Francisco 2011b).
Subsequent Project Impacts
The proposed project would result in the replacement and expansion of the existing Fire Station
No. 63 in its current location on the western project site. The fire station would not be a new use,
and the increase, if any, in water demand for station operation would be minimal. The new fire
station would likely result in a decrease in water demand compared to the existing station even
though it would be larger in size because the new facility would be required to incorporate water-
saving devices in accordance with CALGreen regulations. There is existing water distribution
infrastructure serving the fire station and the adjacent Municipal Services Building.
On the eastern project site, the proposed Community Civic Campus would be a new use and
would include a joint Library and Recreation Center, and Police Station with office space for the
City’s Information Technology (IT) and Human Resources (HR) staff. The proposed library would be
a relocation of the existing city library and would result in an increase in library square footage.
The Recreation Center portion of the facility would be a new use. Combined, the joint Library and
Recreation Center would total up to 92,000 square feet. These elements would result in indoor
potable water use, primarily associated with restrooms and kitchen facilities, and outdoor potable
water use for landscaping. While there may be more staff and patrons at the new Community
Center and Library compared to the number at existing City facilities, this increase would not
represent new resident population growth not previously accounted for in the 2016 UWMP. The
new joint Library and Recreation Center would incorporate water-saving features, which would
reduce demand as required by regulations, as well as ensure compliance with Area Plan Policy
UD-7. The Police Station with office space for the City’s IT and HR staff would be a new building to
accommodate existing City uses housed elsewhere in South San Francisco. Changes in water
demand, if any, would be negligible associated with staff and visitor uses at the new building. The
increased demand for water on the eastern project site, if any, would be minimal and would not
require new supplies or entitlements.
3.11 UTILITIES AND SERVICE SYSTEMS
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.11-10
As noted above, existing water distribution infrastructure may require upgrades and potentially a
new water line within El Camino Real. New, smaller distribution pipes would also be evaluated to
ensure the pipes are sized for sufficient capacity and pressure to meet fire flow requirements for
each building. The need for these improvements was identified in the ECR/C Area Plan, and
potential impacts associated with their construction were evaluated in the ECR/C EIR. The
proposed project would not result in any new or more severe impacts related to water distribution
line improvements than previously identified and would not require new or expanded water
infrastructure. Water supply and distribution impacts would be continue to be less than significant.
Mitigation Measures
None required.
Wastewater Conveyance and Treatment (Standards of Significance 1, 2, and 5)
Impact 3.11.2 Project occupancy would generate wastewater and would require
connections to existing sewer infrastructure. The impact would be less than
significant.
ECR/C Area Plan Impacts
The ECR/C EIR estimated residential wastewater demand only, explaining that such demand
would be a function of substantially greater water use as compared to commercial uses. The
ECR/C EIR concluded that there would be adequate capacity at the Water Quality Control Plant
to accommodate flows from future development in the Area Plan. While new sewer lines would
be needed for new development, major expansion of off-site infrastructure would not be required
because the resulting increase in flows would be a small fraction of the capacity of the trunk lines
that serve the planning area. Impacts on wastewater treatment and capacity were determined
to be less than significant (South San Francisco 2011b).
Subsequent Project Impacts
Wastewater generated by the expanded Fire Station No. 63, the Joint Library and Recreation
Center, and the Police Station with office space for the City’s IT and HR staff would be minimal
because potable (indoor) water demand would not increase substantially, if at all, as explained
in the discussion of Impact 3.11.1. There would be no residential uses associated with the project.
As such, the proposed project would not result in a substantial increase in demand for wastewater
treatment or conveyance such that new or expanded collection and treatment facilities would
be required. The physical and chemical characteristics of sewer flows to the WQCP would be
similar to the domestic-type flows that are currently generated at existing City public facilities;
therefore, the project would not cause violations of WQCP permit requirements.
The ECR/C Area Plan indicated that additional smaller sewer lines would be needed to serve each
new development area, but major off-site infrastructure would not be required because the
increase in flows from new development and intensification of existing developed areas would
be a very small fraction of the total capacity of the existing collection pipes serving the planning
area. In addition, new building codes mandate low-flow fixtures and the advancement of
sustainable design practices such as reuse of greywater for irrigation and other non-potable uses;
these features would decrease the total amount of wastewater discharge from the planning area
(South San Francisco 2011a, 2011b).
3.11 UTILITIES AND SERVICE SYSTEMS
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.11-11
The need for local sewer line improvements was identified in the ECR/C Area Plan, and potential
impacts associated with their construction were evaluated in the ECR/C EIR. The proposed project
would not result in any new or more severe impacts related to wastewater than previously
identified and would not require new or expanded wastewater infrastructure. Impacts would
continue to be less than significant.
Mitigation Measures
None required.
Storm Drain Systems (Standard of Significance 3)
Impact 3.11.3 The project would result in stormwater runoff and would require connections to
existing infrastructure. This impact would be less than significant.
ECR/C Area Plan Impacts
The ECR/C EIR stated that the planning area is largely covered with impermeable surfaces. As
noted in the ECR/C Area Plan, the existing and future storm drain system discharges into the
Colma Creek canal, and an increase in stormwater flows and accompanying major infrastructure
improvements is not anticipated. The addition of the community park, as well as other open
spaces, would likely improve runoff in the area (South San Francisco 2011a). New projects would
be subject to incentives and guidelines to include plazas and open spaces with permeable
surfaces in project design to potentially decrease on-site stormwater runoff. The ECR/C EIR
concluded that with implementation of these measures, the capacity of the storm drain system
would not be exceeded, and impacts would be less than significant (South San Francisco 2011b).
Subsequent Project Impacts
The new Fire Station 63, which would replace the existing fire station, would not result in an increase
in impervious surfaces that would affect storm drain system capacity. The vacant portion of the
eastern project site was assumed to be developed with buildings, sidewalks, paving, hardscaping,
and other features that would increase surface runoff, but plazas and landscaping which would
help reduce runoff in that area would also be a component of future design. The project would
result in a smaller overall building footprint in Blocks D, E, F, and G compared to the approved
ECR/C Area Plan concept, which would reduce the amount of runoff from building rooftops
compared to the approved plan. In addition, the proposed project includes and emphasizes
outdoor use areas, which provide greater opportunities for the creation of permeable surfaces,
thus reducing runoff.
While the project would contribute flows to the storm drain system, it would not result in new
increases not previously anticipated. New development in the project area would also be
required to implement stormwater runoff reduction measures as directed under Area Plan Policy
DG-40 and in compliance with the Provision C.3 of the San Mateo Countywide Water Pollution
Prevention Program Technical Guidance Manual. As noted in the ECR/C Area Plan, an increase
in stormwater flows and accompanying major infrastructure improvements was not anticipated
for the planning area. The project would not result in any new or more severe impacts related to
storm drain capacity than previously identified and would not require new or expanded storm
drainage infrastructure. Impacts would continue to be less than significant.
3.11 UTILITIES AND SERVICE SYSTEMS
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.11-12
Mitigation Measures
None required.
Solid Waste (Standards of Significance 6 and 7)
Impact 3.11.4 The proposed project would generate solid waste. This impact would be less
than significant.
ECR/C Area Plan Impacts
The ECR/C EIR estimated that the Area Plan would generate approximately 16.1 tons of solid waste
and that the addition of this waste could be accommodated under the existing permitted
capacity at the Ox Mountain Sanitary Landfill. The ECR/C EIR also noted that diversion rates would
likely continue, resulting in less solid waste that would need to be landfilled, and that General Plan
policies addressed the need for solid waste reduction. Impacts were determined to be less than
significant (South San Francisco 2011b).
Subsequent Project Impacts
Replacement of Fire Station 63 would not be a new use, and occupancy of the new space would
continue to generate solid waste, similar to existing conditions. Some demolition waste would be
generated, and debris would be required to be recycled or diverted in accordance with the
City’s Municipal Code, which would reduce the amount of demolition waste that would be
landfilled.
On the eastern project site, the proposed joint Library and Recreation Center would be a new
use. The recreation center portion of the facility would be a new use, but the relocated library
would be a continuation of an existing use within the community. While there may be more staff
and patrons at the new joint Library and Recreation Center compared to the number at existing
City facilities, this increase would not result in a substantial change in solid waste generation
compared to the estimate in the ECR/C EIR. The Police Station with office space for the City’s IT
and HR staff would be a new building to accommodate existing City uses housed elsewhere in
South San Francisco. As such, there would be no substantial change in solid waste generation.
Solid waste requiring landfill disposal would be reduced compared to 2011 with continued
implementation of the City’s recycling programs and state mandates for increased diversion. With
the enactment of newer legislation requiring additional increases in diversion (e.g., AB 341 and AB
1826), it is anticipated that solid waste requiring landfill disposal would be further reduced. The
project would not result in any new or more severe impacts related to solid waste landfill capacity
than previously identified. Impacts would continue to be less than significant.
Mitigation Measures
None required.
3.11.6 CUMULATIVE SETTING, IMPACTS, AND MITIGATION MEASURES
CUMULATIVE SETTING
The ECR/C EIR defined the cumulative setting for the analysis of utilities and service systems
impacts as development of the Area Plan through 2030 concurrent with development in the
region (South San Francisco 2011b).
3.11 UTILITIES AND SERVICE SYSTEMS
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
3.11-13
CUMULATIVE IMPACTS AND MITIGATION MEASURES
Cumulative Utilities and Service System Impacts
Impact 3.11.5 The project, in combination with regional development, would increase the
demand for utilities and service systems, but the project’s contribution would
be less than cumulatively considerable.
2011 ECR/C Area Plan Impacts
The ECR/C EIR concluded that there would be enough water, wastewater, storm drainage, and
solid waste capacity to accommodate growth under the Area Plan and regional growth and
therefore cumulative impacts would not be significant (South San Francisco 2011b).
Subsequent Project Impacts
The proposed project would contribute to the demand for water supply and infrastructure,
wastewater treatment and infrastructure, storm drainage infrastructure, solid waste disposal and
landfill capacity. However, as explained in the discussions of Impacts 3.11.1, 3.11.2, 3.11.3, and
3.11.4, the project would not result in a demand for these services or new or expanded facilities
not previously identified. It is also anticipated that the demand for these utility systems would
decrease through energy-efficient design (water, wastewater), recycling and diversion
requirements (solid waste), and project stormwater design features as required by the Provision
C.3 requirements of the San Mateo Countywide Water Pollution Prevention Program, relative to
2011 conditions. The revised project’s impacts would continue to be less than cumulatively
considerable.
Mitigation Measures
None required.
3.11 UTILITIES AND SERVICE SYSTEMS
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
3.11-14
3.11.6 REFERENCES
CalRecycle (California Department of Resources Recycling and Recovery). 2017. Disposal
Reporting System (DRS) Jurisdiction Disposal by Facility. Search criterion: South San
Francisco.
Cal Water (California Water Service). 2016. South San Francisco District Urban Water
Management Plan.
San Francisco Bay RWQCB (Regional Water Quality Control Board). 2014. Order No. R2-2014-
0012, NPDES No. CA0038130. Waste Discharge Requirements.
Schumacker, Brian. 2017. Plant Superintendent, South San Francisco Water Quality Control Plant.
Email to Alice Tackett, Planner, Michael Baker International, February 14.
South San Francisco, City of. 2011a. El Camino Real/Chestnut Avenue Area Plan – General Plan
Amendment.
———. 2011b. City of South San Francisco El Camino Real/Chestnut Avenue Area Plan, and
associated General Plan Amendment, and Zoning Ordinance Amendment. Final
Environmental Impact Report.
———. 2014. South San Francisco General Plan.
———. 2016. Adopted Budget and Capital Improvement Plan, Fiscal Year 2016-17.
4.0 – ALTERNATIVES
4.0 ALTERNATIVES
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
4.0-1
4.1 INTRODUCTION
California Environmental Quality Act (CEQA) Guidelines Section 15126.6(a) requires that an
environmental impact report (EIR) describe and analyze a range of reasonable alternatives to a
project. These alternatives should feasibly attain most of the basic project objectives while
avoiding or substantially lessening one or more of the significant project environmental impacts.
An EIR need not consider every conceivable alternative to a project, nor is it required to consider
alternatives that are infeasible. The discussion of alternatives shall focus on those alternatives
which are capable of avoiding or substantially lessening any significant effects of the project,
even if they impede the attainment of the project objectives to some degree or would be more
costly (CEQA Guidelines Section 15126.6[b]).
According to the CEQA Guidelines, an EIR need only examine in detail those alternatives that
could feasibly meet most of the basic project objectives. When addressing feasibility, CEQA
Guidelines Section 15126.6 states that “among the factors that may be taken into account when
addressing the feasibility of alternatives are site suitability, economic viability, availability of
infrastructure, general plan consistency, jurisdictional boundaries, and whether the applicant can
reasonably acquire, control or otherwise have access to alternative sites.” The CEQA Guidelines
also specify that the alternatives discussion should not be remote or speculative; however, the
alternatives need not be presented in the same level of detail as the assessment of the project.
The CEQA Guidelines indicate that several factors need to be considered in determining the range
of alternatives to be analyzed in an EIR and the level of analytical detail that should be provided for
each alternative. These factors include (1) the nature of the significant impacts of the project; (2) the
ability of alternatives to avoid or lessen the significant impacts associated with the project; (3) the
ability of the alternatives to meet the objectives of the project; and (4) the feasibility of the
alternatives. These factors would be unique for each project.
The project’s significant environmental impacts that the alternatives seek to eliminate or reduce
were determined and based on the findings contained in each technical section (Sections 3.1
through 3.11) of this Draft SEIR.
In this section, “project” refers to the Community Civic Campus Project as described in Section
2.0, Project Description.
PROJECT OBJECTIVES
The City of South San Francisco has identified several objectives or goals to be achieved through
project implementation:
Maintain public safety and essential services.
Improve emergency response times, neighborhood patrols, crime prevention programs,
and gang suppression programs.
Provide programs for seniors and disabled residents.
4.0 ALTERNATIVES
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
4.0-2
4.2 ALTERNATIVES UNDER CONSIDERATION
Three alternatives were identified for examination and analysis in this Draft SEIR:
Alternative 1 – No Project Alternative/Continuation of the Existing ECR/C Area Plan
Alternative 2 – Surface Parking Only Alternative
Alternative 3 – Underground Parking Alternative
These alternatives constitute an adequate range of reasonable alternatives as required under
CEQA Guidelines Section 15126.6.
ALTERNATIVES CONSIDERED BUT NOT SELECTED FOR ANALYSIS
CEQA Guidelines Section 15126.6(c) requires an EIR to identify alternatives that were considered
by the lead agency but were rejected as infeasible. Alternatives 1 through 3, described below,
were the only alternatives considered. No other alternatives were considered and rejected as
infeasible.
4.3 ALTERNATIVE 1 – NO PROJECT ALTERNATIVE/CONTINUATION OF THE EXISTING ECR/C AREA
PLAN
ALTERNATIVE DESCRIPTION
CEQA Guidelines Section 15126.6(e)(2) requires an EIR to include an analysis of the No Project
Alternative. Evaluation of this alternative allows decision-makers to compare the impacts of
approving the project with the impacts of not approving it. Under the No Project Alternative, uses
on the project site would continue as originally envisioned in the El Camino Real/Chestnut Avenue
(ECR/C) Area Plan. The plan contained an illustrative vision for the area and divided the majority
of the planning area into 10 development blocks, designated block A through block J. The
illustrative vision was used to determine probable environmental impacts of development in the
planning area. Each block was envisioned with planned amounts of retail space, office space,
public uses, residential units, and parking spaces.
The western project site is located outside of the specified development blocks. It contains the
existing Municipal Services Building and a parking lot. For the No Project Alternative, it is assumed
that these uses would remain the same.
The eastern project site would be located on development blocks D, E, F, and G, detailed below.
Block D would contain a mix of retail space, a two-story parking structure, and residential
units. Residential units would include townhouses, low-rise units, and tower residential units.
The development would include two towers, the taller of which would be 10 stories tall.
Block E would contain retail space, two levels of underground parking, and residential
units. Residential units would be a mix of townhouses and tower units. A 10-story tower
would be present on the block.
Block F would contain a relocated South San Francisco Library as well as library space. The
block would contain at-grade parking.
Block G would contain a 6-story office building and retail space, with one level of
underground parking.
4.0 ALTERNATIVES
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
4.0-3
Cumulatively, under the ECR/C Area Plan these blocks were projected to contain a combined
110,600 feet of retail space, 73,000 square feet of office space, a 50,000-square-foot library, 289
residential units, and 866 parking spaces. This represents a higher intensity of development than
the project, as Alternative 1 would construct taller buildings with more square feet of development
and more parking spaces than the project. For purposes of this analysis, it was assumed that the
project site would be developed in accordance with the existing ECR/C Area Plan land use
designations and would follow the illustrative vision of the ECR/C Area Plan.
The planning blocks discussed above did not cover the entire ECR/C planning area. In areas
outside of the 10 development blocks, it is assumed that the ECR/C Area Plan envisioned the
current uses to continue into the future.
ENVIRONMENTAL ANALYSIS
The following analysis is based on the environmental impacts identified in Sections 3.1 through 3.11
of this Draft SEIR. Each subsection below presents a brief discussion of Alternative 1’s potential
impacts on the respective resource area as compared to the project. The analysis is based on a
qualitative method; where available, approximate data is presented.
Aesthetics
Western Project Site
Under Alternative 1, there would be no change to the western project site. There would be no
demolition of the Municipal Services Building, and no development of a fire station would occur.
As such, there would be no change to the western project site’s aesthetic and visual character
from the current baseline.
Eastern Project Site
The eastern project site would be developed as envisioned in the ECR/C Area Plan. Each
development block would contain multi-story buildings with a mix of retail space, office space,
residential townhouses, public space, and low-rise and high-rise apartment buildings.
Scenic Vistas
Similar to the project, Alternative 1 would comply with height limits and the design guidelines in
the ECR/C Area Plan, lowering potential impacts to a scenic vista to less than significant. However,
Alternative 1 would have a greater impact due to the higher intensity of development and taller
buildings than the project.
State Scenic Highway
Alternative 1 is not located near a state scenic highway. Therefore, neither the alternative nor the
project would have impacts on visual resources in a state scenic highway.
Visual Character
The visual character of the site would be altered from the vacant lot to a developed multi-use
retail and high-density residential area. The area’s visual character would be improved, as the
development standards established in the ECR/C Area Plan would be implemented. Similar to the
project, Alternative 1 would have a less than significant impact on the visual character of the
area.
4.0 ALTERNATIVES
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
4.0-4
Nighttime Lighting and Glare
Construction of Alternative 1 would be required to comply with the City’s Zoning Ordinance, which
sets standards controlling outdoor artificial lighting and minimizing impacts from nighttime lighting.
Usage of building materials as outlined in the design guidelines would minimize the glare impacts
of Alternative 1 and reduce the impact to less than significant. However, Alternative 1 would
include several 10-story buildings and would develop a greater amount of square footage than
the project. Therefore, Alternative 1 would generate more nighttime light and daytime glare
impacts due to the increased development than the project.
Under both the project and Alternative 1, there are no significant impacts on aesthetics. However,
Alternative 1 would have greater impacts due to increased impacts on scenic vistas and an
increase in nighttime lighting and glare impacts on the eastern project site.
Draft SEIR
Impact Number Impact Topic Alternative 1
Impact Significance
Project
Impact Significance
3.1.1 Have a substantial adverse effect on a
scenic vista Less than significant Less than significant
3.1.2 Substantially damage scenic resources
within a state scenic highway No impact No impact
3.1.3
Have a substantial adverse effect on
the existing visual character site and
its surroundings
Less than significant Less than significant
3.1.4 Create a substantial new source of
light or glare Less than significant Less than significant
3.1.5 Cumulative impacts to visual
resources and aesthetics
Less than cumulatively
considerable
Less than cumulatively
considerable
Air Quality
Western Project Site
Under Alternative 1, there would be no construction or development on the western project site.
Emissions impacting air quality would remain similar to the current baseline. As such, there would
be no impacts as they relate to air quality.
Eastern Project Site
The eastern project site would be developed as described above. Under Alternative 1, the
proposed square footage is much higher than the project. Alternative 1 would construct 233,600
square feet of retail, office, and public space, plus 289 residential units, while the project would
construct up to 143,250 square feet of public space and no residential units.
2017 Clean Air Plan and Air Quality Standards
Due to the higher intensity of development, construction-related generation of criteria air
pollutants would be higher than the project. Alternative 1’s operational emissions of criteria air
pollutants would also be higher than the project. The combination of retail, housing, and public
land uses would generate more vehicle traffic, increasing mobile sources of air pollution under
Alternative 1. However, as analyzed in the ECR/C EIR, the plan would have a less than significant
impact and would not violate air quality standards. As such, Alternative 1 would have a less than
significant impact on implementation of the 2017 Clean Air Plan and the violation of air quality
standards.
4.0 ALTERNATIVES
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
4.0-5
Sensitive Receptors
As analyzed in the ECR/C EIR, Alternative 1 would have a less than significant impact on sensitive
receptors.
Generation of Odors
Like the project, Alternative 1 would not construct a new long-term source of odorous emissions
and would have a less than significant impact.
Under the project, impacts on air quality were found to be less than significant. Due to increased
emissions from construction and operation, Alternative 1 would have higher emissions than the
proposed project and therefore a greater impact on air quality compared to project.
Draft SEIR
Impact Number Impact Topic Alternative 1
Impact Significance
Project
Impact Significance
3.2.1
Conflict with or obstruct
implementation of the 2017 Clean Air
Plan
Less than significant Less than significant
3.2.2
Violate an air quality standard or
contribute substantially to an air
quality violation during short- or long-
term operations
Potentially significant Less than significant with
mitigation
3.2.3 Expose sensitive receptors to
substantial pollutant concentrations Less than significant Less than significant with
mitigation
3.2.4 Expose sensitive receptors to odorous
emissions Less than significant Less than significant
3.2.5 Cumulative air quality impacts Less than cumulatively
considerable
Less than cumulatively
considerable
Biological Resources
Western Project Site
Under Alternative 1, there would be no change at the western project site. The Municipal Services
Building would remain intact, and no construction or renovation would occur. As such, there
would be no impacts as they relate to biological resources.
Eastern Project Site
The eastern project site would be developed as described above.
Special-Status Species and Migratory Birds
Alternative 1 would require the removal of large eucalyptus trees, thus potentially impacting
nesting raptors, migrating birds, and special-status bats. Therefore, this alternative would require
the same mitigation measures as the project. With the implementation of mitigation measures MM
3.3.1a through MM 3.3.1f, Alternative 1 would have a less than significant impact on migratory
birds and special-status species.
4.0 ALTERNATIVES
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
4.0-6
Riparian Habitat and Wetlands
The eastern project site has no riparian areas or federally protected wetlands. Therefore,
Alternative 1, similar to the project, would have no impact on these resources.
Under the project and Alternative 1, all significant impacts on biological resources would be
mitigated to a less than significant level. Impacts on biological resources under Alternative 1 would
be the same as the project.
Draft SEIR
Impact Number Impact Topic Alternative 1
Impact Significance
Project
Impact Significance
3.3.1 Candidate, sensitive, or special-
status plant or animal species
Less than significant with
mitigation
Less than significant with
mitigation
3.3.2 Riparian habitat or sensitive
natural communities No impact No impact
3.3.3 Wetlands or waters of the United
States No impact No impact
3.3.4 Wildlife movement No impact No impact
3.3.5 Conflict with local policies Less than significant Less than significant
3.3.6 Conservation plans No impact No impact
3.3.7 Special-status species populations Less than significant with
mitigation
Less than significant with
mitigation
3.3.8 Cumulative biological resources
impacts
Less than cumulatively
considerable with mitigation
Less than cumulatively
considerable with mitigation
Cultural Resources
Western Project Site
Under Alternative 1, there would be no change to the western project site. The Municipal Services
Building would remain intact, and no ground-disturbing activities would occur. As such, there
would be no impacts as they relate to cultural resources.
Eastern Project Site
The eastern project site would be developed as described above. Alternative 1 construction,
similar to the project, would include ground-disturbing activities. As described in Section 3.4,
Cultural Resources, of this Draft SEIR, ground-disturbing activities could disturb previously
unidentified cultural resources.
Unknown Cultural Resources
Alternative 1 would require a greater amount of ground-disturbing activities on the eastern project
site due to the greater intensity of development and the development of underground parking.
As such, mitigation measures MM 3.4.2a through MM 3.4.2c and MM 3.4.3 would be required. With
implementation of these mitigation measures, Alternative 1 would have a less than significant
impact on cultural resources.
4.0 ALTERNATIVES
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
4.0-7
Under the project and Alternative 1, all significant impacts on cultural resources would be
mitigated to a less than significant level. However, due to the greater amount of ground-disturbing
activities on the eastern project site, Alternative 1 would have a greater impact on cultural
resources than the project.
Draft SEIR
Impact Number Impact Topic Alternative 1
Impact Significance
Project
Impact Significance
3.4.1 Adverse effect on historic resources Less than significant Less than significant
3.4.2 Adverse effect on archaeological
resources
Less than significant
with mitigation
Less than significant with
mitigation
3.4.3 Adverse effect on paleontological
resources
Less than significant
with mitigation
Less than significant with
mitigation
3.4.4 Adverse effect on human remains Less than significant Less than significant
3.4.5 Cumulative impacts on cultural
resources
Less than cumulatively
considerable with
mitigation
Less than cumulatively
considerable with mitigation
Geology and Soils
Western Project Site
Under Alternative 1, there would be no construction or development on the western project site.
The existing structures would remain on the western project site, which as discussed in Section 3.5,
Geology and Soils, are located in an area known for seismic activity. As such, people and
structures would be exposed to seismic risk. As discussed in the ECR/C EIR, Area Plan
implementation would have a less than significant impact as it relates to seismic ground shaking
and associated risks. As such, Alternative 1 would have a less than significant impact. Additionally,
there would be no ground disturbance under this alternative. Therefore, Alternative 1 would have
no impact on soil erosion on the western project site.
Eastern Project Site
Seismic Risk
As described in Section 3.5, the project site is in a region known for its seismic activity and would
experience strong ground shaking from earthquakes on regional or local faults. However,
Alternative 1, similar to the project, would be required to comply with the California Building Code.
Compliance with the building standards in the California Building Code and contained in Title 24
of the California Code of Regulations would protect against building collapse and major injury.
Therefore, Alternative 1 impact, similar to the project, would have a less than significant impact.
Expansive Soils
The proposed Alternative 1 elements would be developed in an area with highly expansive soils,
similar to the project site. As such, Alternative 1, similar to the project, would require mitigation
measure MM 3.5.2, which would reduce any potential project impacts to less than significant.
4.0 ALTERNATIVES
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
4.0-8
Soil Erosion
Alternative 1 would have a greater intensity of development and would include underground
parking. As such, the alternative would have a greater impact on site soils and soil erosion than
the project. Nonetheless, as outlined in the ECR/C EIR, impacts on soil erosion would be less than
significant, similar to the project.
Under the project, significant impacts on geology and soils would be mitigated to a less than
significant level. Alternative 1 would have a greater impact due to potential soil erosion, so overall,
Alternative 1 impacts would be similar to the project.
Draft SEIR
Impact Number Impact Topic Alternative 1
Impact Significance
Project
Impact Significance
3.5.1 Fault rupture Less than significant Less than significant
3.5.2 Ground shaking and liquefaction Less than significant
with mitigation
Less than significant with
mitigation
3.5.3 Soil erosion Less than significant Less than significant
3.5.4
Located on expansive soil, or
unstable soil that could result in
landslide, lateral spreading,
subsidence, liquefaction, or collapse
Less than significant
with mitigation
Less than significant with
mitigation
3.5.5 Cumulative geologic and soil hazards Less than cumulatively
considerable
Less than cumulatively
considerable
Greenhouse Gases and Climate Change
Western Project Site
Under Alternative 1, there would be no construction or development on the western project site;
therefore, greenhouse gas (GHG) emissions would remain similar to the current baseline. As such,
there would be no impacts as they relate to GHG emissions due to construction on the western
project site.
Eastern Project Site
The eastern project site would be developed as described above. Under Alternative 1, the
proposed square footage would be greater than with the project. Alternative 1 would construct
233,600 square feet of retail, office, and public space, plus 289 residential units, while the project
would construct up to 143,250 square feet of public space and no residential units.
Generation of GHG Emissions
Due to the higher intensity of development, construction-related generation of GHG emissions
would be greater than the project. The larger scale of the development would use more energy
to heat and cool the new buildings. Additionally, the combination of retail, housing, and public
land uses would generate more vehicle traffic, increasing mobile source GHG emissions under
Alternative 1. As such, operational GHG emissions under this alternative would also be greater
than the project. Nonetheless, as outlined in the ECR/C EIR, the overall plan development would
have a less than significant impact as it relates to GHG emissions. As such, Alternative 1, similar to
the project, would have a less than significant impact due to GHG emissions.
4.0 ALTERNATIVES
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
4.0-9
Compliance with Applicable GHG Plans
As described above, Alternative 1 would potentially generate higher GHG emissions during
construction and operations. Nonetheless, similar to the project, Alternative 1 would encourage
alternative transportation options and concentrate development in areas designated for future
growth by Plan Bay Area. Therefore, Alternative 1, similar to the project, would have a less than
cumulatively considerable impact relative to applicable plans.
Under the project, GHG emissions were found to be less than significant. Due to increased
emissions from construction and operation, Alternative 1 would have a potentially significant, and
therefore greater, impact due to generation of GHG emissions than the project.
Draft SEIR
Impact Number Impact Topic Alternative 1
Impact Significance
Project
Impact Significance
3.6.1 Generation of greenhouse gas
emissions Less than significant Less than significant
3.6.2 Compliance with the applicable
GHG reduction plan
Less than cumulatively
considerable
Less than cumulatively
considerable
Hazards and Hazardous Materials
Western Project Site
Under Alternative 1, there would be no change to the western project site, and project site soils
would not be disturbed. The Municipal Services Building would remain intact, and no ground-
disturbing activities would occur. As such, there would be no impacts as they relate to hazards
and hazardous materials on the western project site.
Eastern Project Site
The eastern project site would be developed as described above. Both the project and
Alternative 1 would involve the use of hazardous materials during demolition, construction, and
operation.
Hazardous Materials Use
Alternative 1 would abide by the laws governing the handling of hazardous materials, as
described in Section 3.7, Hazards and Hazardous Materials, similar to the project. As such, any
impacts related to the usage and transport of hazardous materials would be reduced to a less
than significant level.
Unknown Contamination
As described in Section 3.7, the project, and thus Alternative 1, are located in an area with the
potential for contamination from historic uses. Alternative 1 would disturb more soil than the
project due to its greater intensity of development and the construction of an underground
parking lot. Alternative 1 would implement similar measures as the project. With implementation
of mitigation measures MM 3.7.2a and MM 3.7.2b, impacts would be reduced to a less than
significant level. Under Alternative 1, demolition of existing buildings could have the potential to
encounter hazardous materials. If these materials are present in amounts that are subject to
regulation, demolition may not proceed until the hazards have been abated. Similar to the
project, Alternative 1 would have a less than significant impact on hazardous materials in building
materials.
4.0 ALTERNATIVES
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
4.0-10
Under the project and Alternative 1, impacts related to hazards and hazardous materials would
be mitigated to a less than significant level. However, due to the greater amount of ground-
disturbing activities on the eastern project site, Alternative 1 would have a greater impact on
hazards and hazardous materials than the project.
Draft SEIR
Impact Number Impact Topic Alternative 1
Impact Significance
Project
Impact Significance
3.7.1 Hazardous materials use Less than significant Less than significant
3.7.2 Cortese List sites and potential for
environmental contamination
Less than significant
with mitigation
Less than significant with
mitigation
3.7.3 Hazardous building materials Less than significant Less than significant
3.7.5 Cumulative hazardous materials
impacts
Less than cumulatively
considerable
Less than cumulatively
considerable
Hydrology and Water Quality
Western Project Site
Under Alternative 1, there would be no change to the western project site. There would be no
ground disturbance, and no impacts on water quality would occur. As such, there would be no
impacts as they relate to hydrology and water quality.
Eastern Project Site
The eastern project site would be developed as described above. Compared to the project,
Alternative 1 would involve a greater amount of soil-disturbing activities and would add more
impermeable surface to the project site due to its greater intensity of development and the
construction of an underground parking lot. However, as concluded in the ECR/C EIR,
development of Alternative 1 and the project would be subject to review and approval by the
City Engineer and the City’s Stormwater Coordinator.
Alternative 1 and the project would also be required to submit a stormwater pollution and
prevention plan (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. With adherence to
these standards and federal, state, and local laws, policies, and standards in the General Plan
and Municipal Code, Alternative 1 and the project would have a less than significant impact on
hydrology and water quality.
There would be no significant impacts on hydrology and water quality resulting from the project
or Alternative 1. However, overall impacts under Alternative 1 would be greater compared to the
project due to an increased amount of soil-disturbing activities and the addition of a greater
amount of impermeable surface.
Draft SEIR
Impact Number Impact Topic Alternative 1
Impact Significance
Project
Impact Significance
3.8.1 Water quality standards Less than significant Less than significant
3.8.2 Cumulative stormwater runoff and
water quality
Less than cumulatively
considerable
Less than cumulatively
considerable
4.0 ALTERNATIVES
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
4.0-11
Noise
Western Project Site
Under Alternative 1, there would be no change to the western project site. All noise-generating
activities would remain similar to the current baseline, and no additional impact would occur. As
such, there would be no impacts as they relate to noise.
Eastern Project Site
The eastern project site would be developed as described above.
Noise Standards
Construction under Alternative 1 would be similar to the project and would not exceed noise
standards as established by the South San Francisco Municipal Code. Ambient noise levels under
Alternative 1 would not increase over levels analyzed in the ECR/C EIR, which found impacts from
ambient noise levels to be less than significant. However, due to the increase in development
intensity under Alternative 1, the increase in ambient noise level would be greater than the
project.
Groundborne Vibration
Construction of Alternative 1 would expose neighboring structures to vibration, but exposure
would be temporary and less than significant.
Under both the project and Alternative 1, there are no significant impacts pertaining to noise.
However, Alternative 1 would have greater impacts due to the increased development intensity.
Draft SEIR
Impact Number Impact Topic Alternative 1
Impact Significance
Project
Impact Significance
3.9.1
Exceed noise standards or result in a
permanent or temporary increase in
ambient noise levels
Less than significant Less than significant
3.9.2 Excessive groundborne vibration Less than significant Less than significant
3.9.3
Excessive noise exposure (within 2
miles of public use airport or private
airstrip)
Less than significant Less than significant
3.9.4 Cumulative noise impacts Less than cumulatively
considerable
Less than cumulatively
considerable
Transportation and Circulation
Western Project Site
Under Alternative 1, there would be no change to the western project site. All traffic generated
would remain similar to the current baseline. As such, there would be no impacts as they relate to
transportation and circulation on the western project site.
4.0 ALTERNATIVES
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
4.0-12
Eastern Project Site
The eastern project site would be developed as described above. This development would
include a higher density of development than the project, with a greater amount of square
footage developed, more parking spaces, and residential uses. All development under
Alternative 1 would be concentrated on the eastern project site.
Traffic Generation and Congestion
Because Alternative 1 would include a higher development envelope, it would potentially
generate a higher number of vehicle trips than the project. As such, Alternative 1 would have
potentially greater impacts on traffic and congestion in the project area. All impacts related to
Alternative 1 were analyzed in the ECR/C EIR. As discussed in Section 3.10, Transportation and
Circulation, the ECR/C Area Plan would result in significant impacts at certain intersections.
Alternative 1 would implement all mitigation measures as required in the original EIR and the
mitigation measures included in Section 3.10. Nonetheless, due to the higher volume of trips that
Alternative 1 would generate compared to the project, the alternative would have a potentially
more significant impact on traffic generation and congestion than the project.
Air Traffic Patterns
Similar to the project, building design for Alternative 1 would comply with all City policies regarding
building height. Therefore, Alternative 1 would have a less than significant impact on air traffic
patterns.
Road Hazards
Similar to the project, Alternative 1 would follow applicable General Plan policies regarding the
construction of new roads. As such, any planned roads would be built to City standards and
therefore would have a less than significant impact.
Emergency Vehicle Access
Emergency vehicle access routes to and around the project site would not be changed under
Alternative 1, similar to the project. Therefore, Alternative 1 would have a less than significant
impact.
Bicycles, Pedestrians, and Transit
Similar to the project, Alternative 1 would increase vehicular traffic in the project area, which
could increase unsafe conditions for pedestrians and bicycle users. Nonetheless, the
improvements described in Section 3.10 would be implemented. Therefore, similar to the project,
Alternative 1 would have a less than significant impact as it relates to bicycle and pedestrian
systems. Additionally, similar to the project, the alternative would not increase transit ridership in a
substantial manner. As such, Alternative 1, similar to the project, would have a less than significant
impact on transit systems in the project area.
Under the project, impacts on transportation and circulation would be mitigated to a less than
significant level. Due to increased traffic volumes, Alternative 1 would have a potentially
significant impact on transportation and circulation, which would be greater than the project.
4.0 ALTERNATIVES
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
4.0-13
Draft SEIR
Impact Number Impact Topic Alternative 1
Impact Significance
Project
Impact Significance
3.10.1
Cause a substantial increase in
traffic load, or conflict with an
applicable congestion management
program
Potentially significant Less than significant with
mitigation
3.10.2 Result in a change in air traffic
patterns Less than significant Less than significant
3.10.3 Increase hazards due to a design
feature Less than significant Less than significant
3.10.4 Result in inadequate emergency
access Less than significant Less than significant
3.10.5
Conflict with adopted policies,
plans, or programs regarding public
transit, bicycle, or pedestrian
facilities
Less than significant Less than significant
3.10.6 Cumulative traffic impacts Potentially significant Less than cumulatively
considerable with mitigation
Utilities and Service Systems
Western Project Site
Under Alternative 1, there would be no change to the western project site and no change to the
site’s utilities and service system demands. As such, there would be no impacts as they relate to
utilities and service systems.
Eastern Project Site
The eastern project site would be developed as described above. Alternative 1 would include a
higher intensity of development than the project, with more square footage of development and
the addition of residential units to the eastern project site.
Water Supply
The ECR/C EIR found that development under the Area Plan would not exceed water supply
projections for the area and that existing entitlements and resources would be sufficient to cover
the project. Impacts on water supply and infrastructure from both Alternative 1 and the project
would therefore be less than significant.
Wastewater
The ECR/C EIR concluded that there would be adequate capacity to treat all wastewater
generated by development in the planning area. Therefore, similar to the project, Alternative 1
would have a less than significant impact on wastewater conveyance and treatment.
Stormwater
Alternative 1 and the project would contribute flows to storm drains, but not in an amount greater
than previously anticipated. Stormwater runoff reduction measures as directed under ECR/C Area
Plan Policy DG-40 would be implemented and would ensure a less than significant impact on
storm drain system capacity.
4.0 ALTERNATIVES
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
4.0-14
Solid Waste
Alternative 1 would not increase solid waste generation over what was projected in the ECR/C
EIR, and therefore would have a less than significant impact on solid waste generation. Alternative
1 and the project would have a less than significant impact on solid waste.
Although there would be no significant impacts on utilities and service systems resulting from the
project, overall impacts under Alternative 1 would be greater than under the project due to the
increased intensity of development. Alternative 1 would require more water and electricity and
would generate more wastewater and solid waste than the project. Therefore, Alternative 1 would
have a greater impact.
Draft SEIR
Impact Number Impact Topic Alternative 1
Impact Significance
Project
Impact Significance
3.11.1 Water supply and infrastructure Less than significant Less than significant
3.11.2 Wastewater conveyance and treatment Less than significant Less than significant
3.11.3 Storm drainage systems Less than significant Less than significant
3.11.4 Solid waste Less than significant Less than significant
3.11.5 Cumulative utilities and service
systems impacts
Less than cumulatively
considerable
Less than cumulatively
considerable
4.4 ALTERNATIVE 2 – SURFACE PARKING ONLY
DESCRIPTION OF ALTERNATIVE
The Surface Parking Only alternative (Alternative 2) would include similar elements to the project.
As shown on Figure 4.0-1 Alternative 2 Site Layout, the community civic center and the fire station
would be built in the same locations, but the project would not include a parking structure. As part
of the project, the eastern portion would contain public open space at its northern end. Under
Alternative 2, the project site would be served by a surface-level parking lot. Construction activities
under Alternative 2 would be similar to those described in Section 2.0, Project Description,
including vegetation removal and grading.
New Police/IT/HRNew Police/IT/HR
New Library &
Community Center
New Library &
Community Center
New Fire StationNew Fire Station
FIGURE 4.0-1
Alternative 2 Site Layout
T:\_CS\Work\South San Francisco, City of\157237 Civic Center Planning + CEQA\Figures
Source: City of South San Francisco
Not To Scale
4.0 ALTERNATIVES
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
4.0-17
ENVIRONMENTAL ANALYSIS
The following analysis is based on the environmental impacts identified in Sections 3.1 through 3.11
of this Draft SEIR. Each subsection below presents Alternative 2’s potential impacts on the
respective resource area and compares it with the project. The analysis is based on a qualitative
method; where available, approximate data is presented.
Aesthetics
Under Alternative 2, the project site would be developed in a similar manner to the project.
However, instead of a parking structure, the alternative would expand surface-level parking on
the project site.
Scenic Vistas
Similar to the project, Alternative 2 would comply with height limits and City design guidelines, thus
reducing potential impacts on a scenic vista to a less than significant level. However, this
alternative would reduce the impact on scenic vistas when compared to the project, as the
removal of the parking structure would allow for more visibility of Sign Hill.
State Scenic Highway
Alternative 2, similar to the project, is not located near a state scenic highway. Therefore, neither
the alternative nor the project would have impacts on visual resources in a state scenic highway.
Visual Character
The visual character of the site would be altered from the vacant lot to a public campus with a
mix of library and office uses. The area’s visual character would be improved, as the development
standards established in the ECR/C Area Plan would be implemented. Similar to the project,
Alternative 2 would have a less than significant impact on the visual character of the area.
Nighttime Lighting and Glare
Similar to the project, Alternative 2 construction would comply with the City’s Zoning Ordinance,
which sets standards controlling outdoor artificial lighting and minimizing impact from nighttime
lighting. Usage of building materials as outlined in the design guidelines would minimize the glare
impacts of Alternative 2. Therefore, Alternative 2 would have similar impacts to the project.
There would be no significant impacts on aesthetics resulting from the project or Alternative 2.
Therefore, Alternative 2 and the project would have a similar impact on aesthetic resources.
Draft SEIR
Impact Number Impact Topic Alternative 2
Impact Significance
Project
Impact Significance
3.1.1 Have a substantial adverse effect on a
scenic vista Less than significant Less than significant
3.1.2 Substantially damage scenic resources
within a state scenic highway No impact No impact
3.1.3
Have a substantial adverse effect on
the existing visual character site and
its surroundings
Less than significant Less than significant
3.1.4 Create a substantial new source of
light or glare Less than significant Less than significant
3.1.5 Cumulative impacts to visual
resources and aesthetics
Less than cumulatively
considerable
Less than cumulatively
considerable
4.0 ALTERNATIVES
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
4.0-18
Air Quality
Under Alternative 2, the project site would be developed in a similar manner to the project.
However, instead of a parking structure, the project would expand surface-level parking on the
project site. As such, Alternative 2’s construction and operational air emissions would be similar
because similar structures would be built and construction would take place over a similar time
frame.
2017 Clean Air Plan
Because Alternative 2’s emissions would be similar to the project’s, its emissions would not exceed
operational standards and therefore would not violate air quality standards. Alternative 2 would
be consistent with the land use designations and development density presented in the General
Plan. Therefore, it would not exceed the population or job growth projections used to inform the
air quality forecasts of the 2017 Clean Air Plan. Therefore, similar to the project, Alternative 2 would
have a less than significant impact on implementation of the 2017 Clean Air Plan.
Violation of Air Quality Standards
Alternative 2 would emit similar amounts of construction and operational air pollutants as the
project. As discussed in Section 3.2, Air Quality, construction-related emissions would surpass
BAAQMD thresholds and therefore mitigation measure MM 3.2.2 would be required. With
implementation of mitigation measure MM 3.2.2, Alternative 2 would have a less than significant
impact on the violation of air quality standards. Additionally, similar to the project, Alternative 2
operational emissions would be less than significant.
Sensitive Receptors
As discussed above, construction-related emissions would surpass BAAQMD thresholds, which
would be a potentially significant impact on sensitive receptors. With implementation of mitigation
measure MM 3.2.2, Alternative 2 impacts would be reduced to a less than significant level.
Additionally, similar to the project, the alternative’s operational emissions would be less than
significant. Therefore, similar to the project, Alternative 2 would have a less than significant impact
on sensitive receptors.
Generation of Odors
Similar to the project, Alternative 2 would not construct a long-term source of odorous emissions.
Therefore, Alternative 2 would have a less than significant impact.
Under both Alternative 2 and the project, potentially significant impacts would be mitigated to a
less than significant level. As such, Alternative 2 and the project would have a similar impact on
air quality.
4.0 ALTERNATIVES
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
4.0-19
Draft SEIR
Impact Number Impact Topic Alternative 2
Impact Significance
Project
Impact Significance
3.2.1
Conflict with or obstruct
implementation of the 2017 Clean Air
Plan
Less than significant Less than significant
3.2.2
Violate an air quality standard or
contribute substantially to an air
quality violation during short- or long-
term operations
Less than significant with
mitigation
Less than significant with
mitigation
3.2.3 Expose sensitive receptors to
substantial pollutant concentrations
Less than significant with
mitigation
Less than significant with
mitigation
3.2.4 Expose sensitive receptors to odorous
emissions Less than significant Less than significant
3.2.5 Cumulative air quality impacts Less than cumulatively
considerable
Less than cumulatively
considerable
Biological Resources
Alternative 2 is located in the same area as the project. As such, all of the biological resources
discussed in Section 3.3, Biological Resources, would occur in the Alternative 2 project area.
Special-Status Species and Migratory Birds
Alternative 2 would require the removal of large eucalyptus trees, thus potentially impacting
nesting raptors, migrating birds, and special-status bats. Therefore, this alternative would require
the same mitigation measures as the project. With the implementation of mitigation measures
MM 3.3.1a through MM 3.3.1f, Alternative 2 would have a less than significant impact on migratory
birds and special-status species.
Riparian Habitat and Wetlands
The eastern and western project sites have no riparian areas or federally protected wetlands.
Therefore, Alternative 2, similar to the project, would have no impact on these resources.
Impacts on biological resources under the project and Alternative 2 would be mitigated to a less
than significant level. Because the project and Alternative 2 would be located in the same area
and would include similar construction and operational activities, they would have similar impacts
on biological resources.
4.0 ALTERNATIVES
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
4.0-20
Draft SEIR
Impact Number Impact Topic Alternative 2
Impact Significance
Project
Impact Significance
3.3.1 Candidate, sensitive, or special-status
plant or animal species
Less than significant with
mitigation
Less than significant with
mitigation
3.3.2 Riparian habitat or sensitive natural
communities No impact No impact
3.3.3 Wetlands or waters of the United
States No impact No impact
3.3.4 Wildlife movement No impact No impact
3.3.5 Conflict with local policies Less than significant Less than significant
3.3.6 Conservation plans No impact No impact
3.3.7 Special-status species populations Less than significant with
mitigation
Less than significant with
mitigation
3.3.8 Cumulative biological resources
impacts
Less than cumulatively
considerable with mitigation
Less than cumulatively
considerable with mitigation
Cultural Resources
Under Alternative 2, the project footprint and site development area would remain the same as
the project. Because Alternative 2 would not require the construction of a parking structure, the
depth of disturbance at the parking structure site would be lower, thereby potentially minimizing
impacts on unknown cultural resources.
Unknown Cultural Resources
Alternative 2 would require a smaller amount of ground-disturbing activities on the eastern project
site due to the removal of the parking structure. Nonetheless, the alternative would have the
potential to disturb unknown cultural, archaeological, and paleontological resources, similar to
the project. As such, mitigation measures MM 3.4.2a through MM 3.4.2c and MM 3.4.3 would be
required. With the implementation of these mitigation measures, Alternative 2 would have a less
than significant impact on cultural resources, similar to the project.
Under both the project and Alternative 2, impacts to unknown cultural resources would be
reduced to a less than significant level with mitigation. However, due to the decreased depth of
ground disturbance, Alternative 2 would have fewer impacts on cultural resources as compared
to the project.
Draft SEIR
Impact Number Impact Topic Alternative 2
Impact Significance
Project
Impact Significance
3.4.1 Adverse effect on historic resources Less than significant Less than significant
3.4.2 Adverse effect on archaeological
resources
Less than significant with
mitigation
Less than significant with
mitigation
3.4.3 Adverse effect on paleontological
resources
Less than significant with
mitigation
Less than significant with
mitigation
3.4.4 Adverse effect on human remains Less than significant Less than significant
3.4.5 Cumulative impacts on cultural
resources
Less than cumulatively
considerable with
mitigation
Less than cumulatively
considerable with mitigation
4.0 ALTERNATIVES
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
4.0-21
Geology and Soils
Alternative 2 would be located on the same site as the project. Alternative 2 would not require
the construction of a parking structure.
Seismic Risk
As described in Section 3.5, the project site is in a region known for its seismic activity and would
experience strong ground shaking from earthquakes on regional or local faults. However,
Alternative 2, similar to the project, would be required to comply with the California Building Code.
Compliance with the building standards in the California Building Code and contained in Title 24
of the California Code of Regulations would protect against building collapse and major injury.
Therefore, Alternative 2, similar to the project, would have a less than significant impact.
Expansive Soils
The project site is located in the city’s lowland zone as designated in the General Plan Health and
Safety Element. This area is known to have a high shrink-swell potential and soil settlement. As such,
similar to the project, Alternative 2 would be developed in an area with highly expansive soils.
Alternative 2 would require the implementation of mitigation measure MM 3.5.2, which would
reduce the alternative’s impact to less than significant, similar to the project.
Soil Erosion
Alternative 2 would disturb less soils than the project because it would not include a new parking
structure. As such, this alternative would have a lower impact on site soils and soil erosion than the
project. Alternative 2, similar to the project, would include the development and implementation
of a SWPPP. With the best management practices associated with the SWPPP, impacts associated
with soil disturbance would be less than significant, similar to the project.
Project impacts under both the project and Alternative 2 would be mitigated to a less than
significant level with implementation of mitigation measures outlined in Section 3.5. However, due
to the decreased depth of ground disturbance, Alternative 2 would have lesser impacts on
geology and soils than the project.
Draft SEIR
Impact Number Impact Topic Alternative 2
Impact Significance
Project
Impact Significance
3.5.1 Fault rupture Less than significant Less than significant
3.5.2 Ground shaking and liquefaction Less than significant
with mitigation
Less than significant with
mitigation
3.5.3 Soil erosion Less than significant Less than significant
3.5.4
Located on expansive soil, or
unstable soil that could result in
landslide, lateral spreading,
subsidence, liquefaction, or collapse
Less than significant
with mitigation
Less than significant with
mitigation
3.5.5 Cumulative geologic and soil hazards Less than cumulatively
considerable
Less than cumulatively
considerable
4.0 ALTERNATIVES
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
4.0-22
Greenhouse Gases and Climate Change
Under Alternative 2, the eastern and western project sites would be developed similarly to the
project and the eastern project site would be developed with the same uses.
Generation of GHG Emissions
Due to the similar intensity of development, Alternative 2’s construction-related generation of
GHG emissions would be similar to the project. A similar amount of energy would be required to
heat and cool the new buildings. Alternative 2 would generate a similar number of vehicle trips to
the project; thus, GHG emissions from mobile sources would be similar to the proposed project. As
such, Alternative 2 would have a similar impact related to GHGs as the project. Alternative 2’s
impact would be less than significant, similar to the project.
Compliance with Applicable GHG Plans
As described above, Alternative 2 would generate similar GHG emissions during construction and
operations. Nonetheless, similar to the project, Alternative 2 would encourage alternative
transportation options and concentrate development in areas designated for future growth by
Plan Bay Area. Therefore, Alternative 2, similar to the project, would have a less than cumulatively
considerable impact relative to applicable GHG reduction plans.
There would be no significant impacts on GHG emissions under the project or Alternative 2.
Alternative 2 would have the same impacts on GHG emissions as the project.
Draft SEIR
Impact Number Impact Topic Alternative 2
Impact Significance
Project
Impact Significance
3.6.1 Generation of greenhouse gas
emissions Less than significant Less than significant
3.6.2 Compliance with the applicable
GHG reduction plan
Less than cumulatively
considerable
Less than cumulatively
considerable
Hazards and Hazardous Materials
Under Alternative 2, the project footprint and site development area would remain the same as
the project. However, Alternative 2 would not include a new parking structure; therefore, the
alternative’s depth of soil disturbance would be less than the project’s.
Hazardous Materials Use
Alternative 2 would abide by the laws governing the handling of hazardous materials, as
described in Section 3.7 and similar to the project. As such, any impacts relating to the usage and
transport of hazardous materials would be reduced to a less than significant level.
Unknown Contamination
As described in Section 3.7, the project, and thus Alternative 2, are located in an area with
potential for contamination from historic uses. Thus, Alternative 2 would have a potentially
significant impact due to unknown contamination. As such, similar to the project, Alternative 2
would implement mitigation measures MM 3.7.2a and MM 3.7.2b. Therefore, similar to the project,
Alternative 2 impacts would be reduced to a less than significant level.
4.0 ALTERNATIVES
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
4.0-23
Similar to the project, Alternative 2 would include the demolition of existing buildings. Building
materials sometimes contain hazardous materials that may be accidentally released. If these
materials are present in amounts that are subject to regulation, demolition would not proceed
until hazards have been abated. The City would be responsible for ensuring proper testing and
removal of these materials, which would reduce the potential for accidental release or improper
disposal that could pose an adverse human health or environmental risk. Therefore, Alternative 2
impacts, similar to the proposed project, would be less than significant.
Project impacts under both the project and Alternative 2 would be mitigated to a less than
significant level. However, due to the decreased depth of ground disturbance, Alternative 2
would have lesser impacts on hazards and hazardous materials than the project.
Draft SEIR
Impact Number Impact Topic Alternative 2
Impact Significance
Project
Impact Significance
3.7.1 Hazardous materials use Less than significant Less than significant
3.7.2 Cortese List sites and potential for
environmental contamination
Less than significant
with mitigation
Less than significant with
mitigation
3.7.3 Hazardous materials in building
materials Less than significant Less than significant
3.7.5 Cumulative hazardous materials
impacts
Less than cumulatively
considerable
Less than cumulatively
considerable
Hydrology and Water Quality
Under Alternative 2, the project footprint and site development area would remain the same as
the project. However, the alternative would not include a parking structure or open space on the
eastern project site. Similar to the project, Alternative 2 would require a SWPPP. With best
management practices associated with the SWPPP, Alternative 2’s impacts associated with
construction period runoff would be less than significant, similar to the project.
Alternative 2 would also implement stormwater runoff reduction measures as required by the San
Mateo Countywide Water Pollution Prevention Program and would implement stormwater control
measures per the C.3 provision of the Municipal Regional Stormwater permit. However, Alternative
2 would include a larger surface-level parking lot, expanding the impervious surface on the site
compared to the project. This increase of impervious surface would increase operational
stormwater flows over the project. However with implementation of the C.3 provisions, Alternative
2’s impacts associated with operational stormwater runoff would be less than significant, similar to
the project.
Under the project and Alternative 2, impacts would be mitigated to a less than significant level.
Alternative 2 and the project would have a similar impact on hydrology and water quality.
Draft SEIR
Impact Number Impact Topic Alternative 2
Impact Significance
Project
Impact Significance
3.8.1 Water quality standards Less than significant Less than significant
3.8.2 Cumulative stormwater runoff and
water quality
Less than cumulatively
considerable
Less than cumulatively
considerable
4.0 ALTERNATIVES
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
4.0-24
Noise
Under Alternative 2, the project footprint and site development area would remain the same as
the project.
Noise Standards
Construction under the project would be similar to Alternative 2 and would not exceed noise
standards as established by the South San Francisco Municipal Code and as discussed in Section
3.9, Noise. Ambient noise levels under Alternative 2 would not increase over levels analyzed in the
ECR/C EIR, which found impacts from ambient noise levels to be less than significant. Alternative
2, like the proposed project, would have a less than significant impact on noise standards.
Groundborne Vibration
Construction of Alternative 2 would expose neighboring structures to vibration, but similar to the
project, exposure of people and structures would be temporary and less than significant.
There would be no significant impacts on noise under the project or Alternative 2. Alternative 2
would have similar impacts pertaining to noise as the project.
Draft SEIR
Impact Number Impact Topic Alternative 2
Impact Significance
Project
Impact Significance
3.9.1
Exceed noise standards or result in a
permanent or temporary increase in
ambient noise levels
Less than significant Less than significant
3.9.2 Excessive groundborne vibration Less than significant Less than significant
3.9.3
Excessive noise exposure (within 2
miles of public use airport or private
airstrip)
Less than significant Less than significant
3.9.4 Cumulative noise impacts Less than cumulatively
considerable
Less than cumulatively
considerable
Transportation and Circulation
Alternative 2 is located on the same project site as the project and would include the same
development envelope. However, the parking structure would be replaced with expanded
surface-level parking.
Traffic Generation and Congestion
Alternative 2 would construct similar uses and would employ the same number of people as the
project, and therefore would generate a similar number of vehicle trips. While Alternative 2’s
parking layout would change, access to the site from Chestnut Avenue would remain in the same
place. As such, Alternative 2 would have potentially significant impacts on transportation and
circulation, as with the project, and would require the same mitigation measures. With the
implementation of mitigation measures MM 3.10.1a, MM 3.10.1b, MM 3.10.1d, MM 3.10.6b, MM
3.10.6c, MM 3.10.6d, and MM 3.10.6e, Alternative 2 would have a less than significant impact on
traffic and congestion, similar to the project.
4.0 ALTERNATIVES
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
4.0-25
Air Traffic Patterns
Similar to the project, building design for Alternative 2 would comply with all City policies regarding
building height. Therefore, Alternative 2 would have a less than significant impact on air traffic
patterns.
Road Hazards
Similar to the project, Alternative 2 would follow applicable General Plan policies regarding the
construction of new roads. As such, any planned roads would be built to City standards and
therefore would have a less than significant impact.
Emergency Vehicle Access
Emergency vehicle access routes to and around the project site would not be changed under
Alternative 2, similar to the project. Therefore, Alternative 2 would have a less than significant
impact on emergency access.
Bicycles, Pedestrians, and Transit
Similar to the project, Alternative 2 would increase vehicular traffic in the project area, which
could increase unsafe conditions for pedestrians and bicycle users. Nonetheless, the
improvements described in Section 3.10 would be implemented. Therefore, similar to the project,
Alternative 2 would have a less than significant impact as it relates to bicycle and pedestrian
systems. Additionally, similar to the project, the alternative would not increase transit ridership in a
substantial manner. As such, Alternative 2, similar to the project, would have a less than significant
impact on transit systems in the project area.
Project impacts under both the project and Alternative 2 would be mitigated to a less than
significant level with implementation of the mitigation measures included in Section 3.10.
Alternative 2 and the project would have a similar impact on transportation and circulation.
Draft SEIR
Impact Number Impact Topic Alternative 2
Impact Significance
Project
Impact Significance
3.10.1
Cause a substantial increase in
traffic load, or conflict with an
applicable congestion management
program
Less than significant with
mitigation
Less than significant with
mitigation
3.10.2 Result in a change in air traffic
patterns Less than significant Less than significant
3.10.3 Increase hazards due to a design
feature Less than significant Less than significant
3.10.4 Result in inadequate emergency
access Less than significant Less than significant
3.10.5
Conflict with adopted policies,
plans, or programs regarding public
transit, bicycle, or pedestrian
facilities
Less than significant Less than significant
3.10.6 Cumulative traffic impacts
Less than cumulatively
considerable with
mitigation
Less than cumulatively
considerable with
mitigation
4.0 ALTERNATIVES
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
4.0-26
Utilities and Service Systems
Alternative 2 would develop the same buildings and uses as the project. Alternative 2 would not
include a parking structure, and parking would be expanded into the open space area included
in the project. Because, Alternative 2 would include the same buildings as the project, it would
generate similar demands on water supply, wastewater conveyance, solid waste generation, and
electricity and energy infrastructure.
Water Supply
The ECR/C EIR found that development under the Area Plan would not exceed water supply
projections for the area and that existing entitlements and resources would be sufficient to cover
the project. As such, Alternative 2 impacts on water supply and infrastructure would be less than
significant, similar to the project.
Wastewater
The ECR/C EIR concluded that there would be adequate capacity to treat all wastewater
generated by development in the planning area. Therefore, similar to the project, Alternative 2
would have a less than significant impact on wastewater conveyance and treatment.
Stormwater
Alternative 2 and the project would contribute flows to storm drains, but not in an amount greater
than previously anticipated. Stormwater runoff reduction measures as directed under ECR/C Area
Plan Policy DG-40 would be implemented and would reduce impact on storm drain system
capacity. However, the expansion of the surface parking lot would increase the amount of
impermeable surface on the project site. This increase of impervious surface would increase
stormwater flows to city storm drains. However Alternative 2 would be required to implement
stormwater reduction measures outlined in the C.3 provision of the City’s Regional Stormwater
Permit. With implementation, impacts due to stormwater would be reduced to less than
significant, similar to the project.
Solid Waste
Alternative 2 would not increase solid waste generation over what was projected in the ECR/C
EIR, and therefore would have a less than significant impact on solid waste generation. Alternative
2, similar to the project, would have a less than significant impact on solid waste.
Under the project and Alternative 2, impacts would be mitigated to a less than significant level.
Overall, Alternative 2 and the proposed project would have a similar impact on utilities and service
systems.
Draft SEIR
Impact Number Impact Topic Alternative 2
Impact Significance
Project
Impact Significance
3.11.1 Water supply and infrastructure Less than significant Less than significant
3.11.2 Wastewater conveyance and
treatment Less than significant Less than significant
3.11.3 Storm drainage system capacity Potentially significant Less than significant
3.11.4 Solid waste Less than significant Less than significant
3.11.5 Cumulative utilities and service
systems impacts Potentially significant Less than cumulatively
considerable
4.0 ALTERNATIVES
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
4.0-27
4.5 ALTERNATIVE 3 – UNDERGROUND PARKING ALTERNATIVE
DESCRIPTION OF ALTERNATIVE
In the Underground Parking Alternative, the community civic center and fire station would be built
on the same site as the project. However, the project’s parking structure would be replaced with
underground parking below the joint Library and Recreation Center building on the eastern
project site. The Police Station with office space for the City’s Information Technology (IT) and
Human Resources (HR) staff shifts to the location of the proposed project’s parking garage, and
the projects overall footprint would shrink.
As shown on Figure 4.0-2 Alternative 3 Site Plan, the location of the Police Station with office space
for the City’s IT and HR staff would be slightly changed. Surface parking spaces would be reduced
in this area and the building would have a north–south alignment instead of an east–west
alignment. The building would be the same size and would employ the same number of people.
Project construction elements would be similar to those outlined in Section 2.0 for the project.
ENVIRONMENTAL ANALYSIS
The following analysis is based on the environmental impacts identified in Sections 3.0 through 3.11
of this Draft SEIR. Each subsection below presents Alternative 3’s potential impacts on the
respective resource area and compares it with the project. The analysis is based on a qualitative
method; where available, approximate data is presented.
Aesthetics
Under Alternative 3, the project site would be developed in a similar manner to the project.
However, instead of a parking structure, parking would be developed underground.
Scenic Vistas
Similar to the project, Alternative 3 would comply with height limits and the design guidelines in
the ECR/C Area Plan, lowering potential impacts to a scenic vista to a less than significant level.
However, this alternative would reduce the impact on scenic vistas when compared to the
project, as the removal of the parking structure would allow higher visibility of Sign Hill. Therefore,
Alternative 3 would have lower impacts on scenic vistas compared with the project, even though
they would be less than significant.
State Scenic Highway
Similar to the project, Alternative 3 is not located near a state scenic highway. Therefore, neither
the alternative nor the project would have impacts on visual resources in a state scenic highway.
Visual Character
The visual character of the site would be altered from the vacant lot to a public campus with a
mix of library and office uses. The area’s visual character would be improved, as the development
standards established in the ECR/C Area Plan would be implemented. Similar to the project,
Alternative 3 would have a less than significant impact on the visual character of the area.
4.0 ALTERNATIVES
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
4.0-28
This page intentionally left blank
FIGURE 4.0-2
Alternative 3 Site Plan
T:\_CS\Work\South San Francisco, City of\157237 Civic Center Planning + CEQA\Figures
Source: City of South San Francisco
Not To Scale
New Police/IT/HRNew Police/IT/HR
New Library &
Community Center
New Library &
Community Center
New Fire StationNew Fire Station
4.0 ALTERNATIVES
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
4.0-31
Nighttime Lighting and Glare
Similar to the project, Alternative 3’s construction would comply with the City’s Zoning Ordinance,
which sets standards controlling outdoor artificial lighting and minimizing impacts from nighttime
lighting. Usage of building materials as outlined in the design guidelines would minimize the glare
impacts of Alternative 3. Therefore, Alternative 3 would have similar impacts to the project, which
would be less than significant.
There would be no significant impacts on aesthetics resulting from the project or Alternative 3.
However, Alternative 3 would have fewer impacts on aesthetic resources due to the elimination
of the aboveground parking structure when compared to the project.
Draft SEIR
Impact Number Impact Topic Alternative 3
Impact Significance
Project
Impact Significance
3.1.1 Have a substantial adverse effect on a
scenic vista Less than significant Less than significant
3.1.2 Substantially damage scenic resources
within a state scenic highway No impact No impact
3.1.3
Have a substantial adverse effect on
the existing visual character site and
its surroundings
Less than significant Less than significant
3.1.4 Create a substantial new source of
light or glare Less than significant Less than significant
3.1.5 Cumulative impacts to visual
resources and aesthetics
Less than cumulatively
considerable
Less than cumulatively
considerable
Air Quality
Under Alternative 3, the project site would be developed in a similar manner to the project.
However, instead of a parking structure, the project would construct an underground parking
garage. Alternative 3’s construction-related air emissions could be potentially higher than the
project, as it would include the construction of an underground parking garage. Such
construction would be more intensive and would require additional construction equipment.
Operational emissions would be similar to the project, as Alternative 3 would include similar uses,
which would generate a similar number of trips as the project.
2017 Clean Air Plan
As discussed in Section 3.2, project emissions would be not conflict or obstruct implementation of
the 2017 Clean Air Plan. Because Alternative 3’s emissions would be similar to the project, its
emissions would not exceed operational standards and therefore would not violate air quality
standards. Alternative 3 is consistent with the land use designations and development density
presented in the General Plan and therefore would not exceed the population or job growth
projections used to inform the air quality forecasts of the 2017 Clean Air Plan. Therefore Alternative
3 would have a less than significant impact on the Clean Air Plan.
4.0 ALTERNATIVES
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
4.0-32
Violation of Air Quality Standards
As described above, Alternative 3 would potentially have higher emissions than the project, due
to the construction of an underground garage. Alternative 3 would emit similar amounts of
operational air pollutants as the project. As discussed in Section 3.2, construction-related emissions
for the project would surpass BAAQMD thresholds and therefore mitigation measure MM 3.2.2
would be required. As such, this alternative would also implement mitigation measure MM 3.2.2.
With implementation, Alternative 3 would have a less than significant impact on the violation of
air quality standards from both construction and operation, similar to the project.
Sensitive Receptors
As discussed above, construction-related emissions would surpass BAAQMD thresholds, which
would be a potentially significant impact on sensitive receptors. With implementation of mitigation
measure MM 3.2.2, Alternative 3’s impacts would be reduced to a less than significant level, similar
to the project. Operational emissions would be less than significant, similar to the project.
Generation of Odors
Similar to the project, Alternative 3 would not construct a long-term source of odorous emissions.
Therefore, Alternative 3 would have a less than significant impact.
Under both the project and Alternative 3, impacts would be reduced to less than significant with
mitigation. Alternative 3 would have similar impacts on emissions due to potential construction
impacts, as compared to the project.
Draft SEIR
Impact Number Impact Topic Alternative 3
Impact Significance
Project
Impact Significance
3.2.1
Conflict with or obstruct
implementation of the 2017 Clean Air
Plan
Less than significant Less than significant
3.2.2
Violate an air quality standard or
contribute substantially to an air
quality violation during short- or long-
term operations
Less than significant with
mitigation
Less than significant with
mitigation
3.2.3 Expose sensitive receptors to
substantial pollutant concentrations Less than significant Less than significant with
mitigation
3.2.4 Expose sensitive receptors to odorous
emissions Less than significant Less than significant
3.2.5 Cumulative air quality impacts Less than cumulatively
considerable
Less than cumulatively
considerable
Biological Resources
Alternative 3 is located in the same area as the project. As such, all of the biological resources
discussed in Section 3.3 would occur in the Alternative 3 project area.
4.0 ALTERNATIVES
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
4.0-33
Special-Status Species and Migratory Birds
Alternative 3 would require the removal of large eucalyptus trees, thus potentially impacting
nesting raptors, migrating birds, and special-status bats. Therefore, Alternative 3 would require the
same mitigation measures as the project. With the implementation of mitigation measures
MM 3.3.1a through MM 3.3.1f, Alternative 3 would have a less than significant impact on migratory
birds and special-status species, similar to the project.
Riparian Habitat and Wetlands
The eastern project site has no riparian areas or federally protected wetlands. Therefore,
Alternative 3, similar to the project, would have no impact on these resources.
Impacts on biological resources under the project and Alternative 3 would be mitigated to a less
than significant level. Because the project and Alternative 3 would be located in the same area,
they would have similar impacts on biological resources.
Draft SEIR
Impact Number Impact Topic Alternative 3
Impact Significance
Project
Impact Significance
3.3.1 Candidate, sensitive, or special-
status plant or animal species
Less than significant with
mitigation
Less than significant with
mitigation
3.3.2 Riparian habitat or sensitive
natural communities No impact No impact
3.3.3 Wetlands or waters of the United
States No impact No impact
3.3.4 Wildlife movement No impact No impact
3.3.5 Local policies Less than significant Less than significant
3.3.6 Conservation plans No impact No impact
3.3.7 Special-status species populations Less than significant with
mitigation
Less than significant with
mitigation
3.3.8 Cumulative biological resources
impacts
Less than cumulatively
considerable with mitigation
Less than cumulatively
considerable with mitigation
Cultural Resources
Under Alternative 3, the project footprint and site development area would be similar to the
project. However, Alternative 3’s ground disturbance area would be slightly reduced due to the
change in the location of the police station, but the depth of disturbance would greatly increase
because of the underground parking.
Unknown Cultural Resources
Alternative 3 would require a greater amount of ground-disturbing activities on the eastern project
site due to the construction of the underground parking structure. Therefore, similar to the project,
Alternative 3 would have the potential to disturb unknown cultural, archaeological, and
paleontological resources. As such, mitigation measures MM 3.4.2a through MM 3.4.2c and
MM 3.4.3 would be required. With the implementation of these mitigation measures, Alternative 3
would have a less than significant impact on unknown cultural resources, similar to the project.
4.0 ALTERNATIVES
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
4.0-34
Under both the project and Alternative 3, project impacts would be reduced to a less than
significant level with mitigation. Therefore, the project and Alternative 3 would have similar
impacts on cultural resources.
Draft SEIR
Impact Number Impact Topic Alternative 3
Impact Significance
Project
Impact Significance
3.4.1 Adverse effect on historic resources Less Than significant Less Than significant
3.4.2 Adverse effect on archaeological
resources
Less than significant
with mitigation
Less than significant with
mitigation
3.4.3 Adverse effect on paleontological
resources
Less than significant
with mitigation
Less than significant with
mitigation
3.4.4 Adverse effect on human remains Less than significant
with mitigation
Less than significant with
mitigation
3.4.5 Cumulative impacts on cultural
resources
Less than cumulatively
considerable
Less than cumulatively
considerable
Geology and Soils
Alternative 3 would be located on the same site as the project. The alternative ground
disturbance area would be slightly reduced due to the change in the location of the police
station, but the depth of disturbance would greatly increase because of the underground parking
lot.
Seismic Risk
As described in Section 3.5, the project site is in a region known for its seismic activity and would
experience strong ground shaking from earthquakes on regional or local faults. However,
Alternative 3, similar to the project, would be required to comply with the California Building Code.
Compliance with the building standards in the California Building Code and contained in Title 24
of the California Code of Regulations would protect against building collapse and major injury.
Therefore, Alternative 3, similar to the project, would have a less than significant impact.
Expansive Soils
The project site is located in the city’s lowland zone as designated in the General Plan Health and
Safety Element. This area is known to have a high shrink-swell potential and soil settlement. As such,
similar to the project, Alternative 3 would be developed in an area with highly expansive soils. The
alternative would require the implementation of mitigation measure MM 3.5.2, which would
reduce Alternative 3’s impacts to less than significant, similar to the project.
Soil Erosion
Alternative 3 would disturb more soil than the project due to the construction of the underground
parking structure Therefore, similar to the project, Alternative 3 would include the development
and implementation of a SWPPP. With the best management practices associated with the
SWPPP, impacts associated with soil disturbance would be less than significant..
Under the project and Alternative 3, impacts would be mitigated to a less than significant level.
Alternative 3 and the proposed project would therefore have similar impacts on geology and soils.
4.0 ALTERNATIVES
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
4.0-35
Draft SEIR
Impact Number Impact Topic Alternative 3
Impact Significance
Project
Impact Significance
3.5.1 Fault rupture Less than significant Less than significant
3.5.2 Ground shaking and liquefaction Less than significant with
mitigation
Less than significant with
mitigation
3.5.3 Soil erosion Less than significant Less than significant
3.5.4
Located on expansive soil, or
unstable soil that could result in
landslide, lateral spreading,
subsidence, liquefaction or collapse,
Less than significant with
mitigation
Less than significant with
mitigation
3.5.5 Cumulative geologic and soil hazards Less than cumulatively
considerable
Less than cumulatively
considerable
Greenhouse Gases and Climate Change
Under Alternative 3, the western project site would be developed identically to the project and
the eastern project site would be developed with the same uses.
Generation of GHG Emissions
As described above, Alternative 3 would include the construction of an underground parking
garage. As such, project construction would require the use of intensive construction equipment
and GHG emissions associated with Alternative 3 would be potentially higher than the project.
Nonetheless, the ECR/C EIR found that Area Plan implementation would have a less than
significant impact as it relates to GHG emissions. Therefore, Alternative 3, similar to the project,
would have a less than significant impact due to GHG construction emissions.
A similar amount of energy would be required to heat and cool the new buildings for Alternative
3 as the project. Additionally, this alternative would generate a similar number of vehicle trips as
the proposed project, meaning GHG emissions from mobile sources would be similar to the
proposed project. As such, Alternative 3 would have a similar impact due to GHG operational
emissions as the project. Alternative 3 impacts would be less than significant, similar to the project.
Compliance with Applicable GHG Plans
As described above, Alternative 3 would generate similar GHG emissions during construction and
operations. Nonetheless, similar to the project, the alternative would encourage alternative
transportation options and concentrate development in areas designated for future growth by
Plan Bay Area. Therefore, Alternative 3, similar to the project, would have a less than cumulatively
considerable impact relative to applicable GHG reduction plans.
There would be no significant impacts on GHG emissions under the project or Alternative 3.
Alternative 3 would have similar impacts on GHG emissions as the project.
Draft SEIR
Impact Number Impact Topic Alternative 3
Impact Significance
Project
Impact Significance
3.6.1 Generation of greenhouse gas
emissions Less than significant Less than significant
3.6.2 Compliance with the applicable
GHG reduction plan
Less than cumulatively
considerable
Less than cumulatively
considerable
4.0 ALTERNATIVES
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
4.0-36
Hazards and Hazardous Materials
Under Alternative 3, the project footprint and site development area would be similar to the
project. However, Alternative 3’s ground disturbance area would be slightly reduced due to the
change in the location of the police station, but the depth of disturbance would greatly increase
because of the underground parking lot..
Hazardous Materials Use
Alternative 3 would abide by the laws governing the handling of hazardous materials, as
described in Section 3.7 and similar to the project. As such, any impacts relating to the usage and
transport of hazardous materials would be reduced to a less than significant level.
Unknown Contamination
As described in Section 3.7, the project, and thus Alternative 3, are located in an area with
potential for contamination from historic uses. Alternative 3 would include ground disturbing
activities and therefore could encounter unknown contaminated soil. As such, this alternative
would implement similar mitigation measures as the project. With the implementation of mitigation
measures MM 3.7.2a and MM 3.7.2b, impacts due to unknown contamination would be reduced
to a less than significant level.
Similar to the project, Alternative 3 would include the demolition of existing buildings. Building
materials sometimes contain hazardous materials that may be accidentally released. If these
materials are present in amounts that are subject to regulation, demolition would not proceed
until hazards have been abated. The City would be responsible for ensuring proper testing and
removal of these materials, which would reduce the potential for accidental release or improper
disposal that could pose an adverse human health or environmental risk. Therefore, Alternative 2
impacts, similar to the proposed project, would be less than significant.
Under the project and Alternative 3, impacts would be mitigated to a less than significant level.
Alternative 3 and the project would therefore have similar levels of impact.
Draft SEIR
Impact Number Impact Topic Alternative 3
Impact Significance
Project
Impact Significance
3.7.1 Hazardous materials use Less than significant Less than significant
3.7.2 Cortese List sites and potential for
environmental contamination
Less than significant
with mitigation
Less than significant with
mitigation
3.7.3 Hazardous materials in building
materials Less than significant Less than significant
3.7.4 Cumulative hazardous materials
impacts
Less than cumulatively
considerable
Less than cumulatively
considerable
Hydrology and Water Quality
Under Alternative 3, the project footprint would be similar to, but slightly smaller than the project.
Nonetheless, like the project, the project site would remain large enough to require the
development and implementation of a SWPPP. With best management practices associated with
the SWPPP, Alternative 3’s impacts associated with construction period runoff would be less than
significant, similar to the project.
4.0 ALTERNATIVES
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
4.0-37
Alternative 3 would also implement the same stormwater runoff reduction measures as required
by the San Mateo Countywide Water Pollution Prevention Program, similar to the project. Due to
the slight decrease in project area, the amount of impervious surface added by Alternative 3
would be reduced. Nonetheless, as outlined in the ECR/C EIR, impacts associated with plan
implementation related to stormwater runoff and quality would be less than significant. As such
and with implementation of existing regulations, Alternative 3 would have an impact on
stormwater runoff similar to the project.
Under the project and Alternative 3, impacts related to stormwater would be less than significant.
Therefore, Alternative 3 would have a similar overall impact on hydrology and water quality as the
project.
Draft SEIR
Impact Number Impact Topic Alternative 3
Impact Significance
Project
Impact Significance
3.8.1 Water quality standards Less than significant Less than significant
3.8.2 Cumulative stormwater runoff and
water quality
Less than cumulatively
considerable
Less than cumulatively
considerable
Noise
Under Alternative 3, the project footprint and site development area would be slightly smaller, but
the same uses would be developed.
Noise Standards
Project construction under the project would be similar to Alternative 3 and would not exceed
noise standards as established by the South San Francisco Municipal Code. Ambient noise levels
under Alternative 3 would not increase over levels analyzed in the ECR/C EIR, which found impacts
from ambient noise levels to be less than significant. Alternative 3, like the proposed project, would
have a less than significant impact on noise standards.
Groundborne Vibration
Construction of Alternative 3 would expose neighboring structures to vibration, but exposure
would be temporary and less than significant, similar to the project.
There would be no significant impacts on noise from the project or Alternative 3. Alternative 3
would have the same impacts on noise as the project.
Draft SEIR
Impact Number Impact Topic Alternative 3
Impact Significance
Project
Impact Significance
3.9.1
Exceed noise standards or result in a
permanent or temporary increase in
ambient noise levels
Less than significant Less than significant
3.9.2 Excessive groundborne vibration Less than significant Less than significant
3.9.3
Excessive noise exposure (within 2
miles of public use airport or private
airstrip)
Less than significant Less than significant
3.9.4 Cumulative noise impacts Less than cumulatively
considerable
Less than cumulatively
considerable
4.0 ALTERNATIVES
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
4.0-38
Transportation and Circulation
Under Alternative 3, the project footprint and site development area would remain the same as
the project. However, Alternative 3 would replace the project’s parking structure with an
underground parking lot.
Traffic Generation and Congestion
Alternative 3 would construct similar uses and would employ the same number of people as the
project, and therefore would generate a similar number of vehicle trips. While Alternative 3’s
parking layout would change, access to the site from Chestnut Avenue would remain in the same
place. As such, Alternative 3 would have potentially significant impacts on transportation and
circulation, as with the project, and would require the same mitigation measures. With the
implementation of mitigation measures MM 3.10.1a, MM 3.10.1b, MM 3.10.1d, MM 3.10.6b, MM
3.10.6c, MM 3.10.6d, and MM 3.10.6e, Alternative 3 would have a less than significant impact on
traffic and congestion, similar to the project.
Air Traffic Patterns
Similar to the project, building design for Alternative 3 would comply with all City policies regarding
building height. Therefore, Alternative 3 would have a less than significant impact on air traffic
patterns.
Road Hazards
Similar to the project, Alternative 3 would follow applicable General Plan policies regarding the
construction of new roads. As such, any planned roads would be built to City standards and
therefore would have a less than significant impact.
Emergency Vehicle Access
Emergency vehicle access routes to and around the project site would not be changed under
Alternative 3, similar to the project. Therefore, Alternative 3 would have a less than significant
impact on emergency access.
Bicycles, Pedestrians, and Transit
Similar to the project, Alternative 3 would increase vehicular traffic in the project area, which
could increase unsafe conditions for pedestrians and bicycle users. Nonetheless, the
improvements described in Section 3.10 would be implemented. Therefore, similar to the project,
Alternative 3 would have a less than significant impact as it relates to bicycle and pedestrian
systems. Additionally, similar to the project, this alternative would not increase transit ridership in a
substantial manner. As such, Alternative 3, similar to the project, would have a less than significant
impact on transit systems in the project area.
Project impacts under both the project and Alternative 3 would be mitigated to a less than
significant level. Alternative 3 and the project would have a similar impact on transportation and
circulation.
4.0 ALTERNATIVES
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
4.0-39
Draft SEIR
Impact Number Impact Topic Alternative 3
Impact Significance
Project
Impact Significance
3.10.1
Cause a substantial increase in traffic
load, or conflict with an applicable
congestion management program
Less than significant with
mitigation
Less than significant with
mitigation
3.10.2 Result in a change in air traffic
patterns Less than significant Less than significant
3.10.3 Increase hazards due to a design
feature Less than significant Less than significant
3.10.4 Result in inadequate emergency
access Less than significant Less than significant
3.10.5
Conflict with adopted policies,
plans, or programs regarding public
transit, bicycle, or pedestrian
facilities
Less than significant Less than significant
3.10.6 Cumulative traffic impacts
Less than cumulatively
considerable with
mitigation
Less than cumulatively
considerable with
mitigation
Utilities and Service Systems
Alternative 3 would develop the same buildings and uses as the project. Alternative 3 would
construct an underground parking structure, as opposed to the project that would include an
aboveground parking structure. Because Alternative 3 would include the same buildings and
open space as the project, it would generate similar demands on water supply, wastewater
conveyance, stormwater runoff, solid waste generation, and electricity and energy infrastructure.
Water Supply
The ECR/C EIR found that development under the Area Plan would not exceed water supply
projections for the area and that existing entitlements and resources would be sufficient to cover
the project. As such, Alternative 3 impacts on water supply and infrastructure would be less than
significant, similar to the project
Wastewater
The ECR/C EIR concluded that there would be adequate capacity to treat all wastewater
generated by development in the planning area. Therefore, similar to the project, Alternative 3
would have a less than significant impact on wastewater conveyance and treatment.
Stormwater
Alternative 3 and the project would contribute flows to storm drains, but not in an amount greater
than previously anticipated. Stormwater runoff reduction measures as directed under ECR/C Area
Plan Policy DG-40 would be implemented and would ensure a less than significant impact on
storm drain system capacity. As such, Alternative 3 would have a similar impact on stormwater
infrastructure as the project.
4.0 ALTERNATIVES
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
4.0-40
Solid Waste
Alternative 3 would not increase solid waste generation over what was projected in the ECR/C
EIR, and therefore would have a less than significant impact on solid waste generation. Alternative
3, similar to the project, would have a less than significant impact on solid waste.
There would be no significant impacts on utilities and service systems from the project or
Alternative 3. Alternative 3 would have the same impacts on utilities and service systems as the
project.
Draft SEIR
Impact Number Impact Topic Alternative 3
Impact Significance
Project
Impact Significance
3.11.1 Water supply and infrastructure Less than significant Less than significant
3.11.2 Wastewater conveyance and treatment Less than significant Less than significant
3.11.3 Storm drainage system capacity Less than significant Less than significant
3.11.4 Solid waste Less than significant Less than significant
3.11.5 Cumulative utilities and service
systems impacts
Less than cumulatively
considerable
Less than cumulatively
considerable
4.6 COMPARISON OF ALTERNATIVES
Table 4.0-1, Summary Comparison of Project Objectives, shows whether the selected alternatives
meet the City-identified project objectives as outlined in Section 2.0, Project Description.
Alternative 1 – No Project Alternative/Continuation of the Existing ECR/C Area Plan would meet
only one of the City’s three objectives for the project. Alternatives 2 and 3 would meet all three of
the objectives.
Table 4.0-2 Summary Comparison of Environmental Impacts of Alternatives, summarizes the
potential impacts of the alternatives evaluated in this section as compared with the project’s
impacts. Pursuant to CEQA Guidelines Section 15126.6(e)(2), an environmentally superior
alternative must be identified from among the other alternatives. The environmentally superior
alternative is the alternative that would result in the fewest or least significant environmental
impacts.
As described above, the No Project Alternative (Alternative 1) would have greater impacts than
the project. Potentially significant impacts on transportation and circulation would cause greater
impacts on the environment. Further, only one of the three project objectives would be met.
Alternative 2 would reduce impacts on cultural resources, geology and soils, and hazards and
hazardous materials when compared to the project. Impacts on all other resource area would be
similar to the project. Therefore, the proposed project would have greater impacts than
Alternative 2.
Alternative 3 would decrease impacts on aesthetics. Impacts on all other resource areas would
be similar to the project. Therefore, the proposed project would have greater impacts that
Alternative 3. Overall, Alternatives 2 and 3 would result in fewer environmental impacts than the
project. Because Alternative 2 would reduce more impacts, Alternative 2 is the environmentally
superior alternative.
4.0 ALTERNATIVES
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
4.0-41
TABLE 4.0-1
SUMMARY COMPARISON OF PROJECT OBJECTIVES
Project Objective Proposed
Project
Alternative 1 – No
Project
Alternative/Continuation
of the Existing ECR/C
Area Plan
Alternative 2 –
No Parking
Structure
Alternative
Alternative 3 –
Underground
Parking
Alternative
Maintain public safety and
essential services
Improve emergency response
times, neighborhood patrols,
crime prevention programs, and
gang suppression programs
X
Provide programs for seniors and
disabled residents X
Meets project objectives
X Does not meet project objective
4.
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5.0 OTHER CEQA ANALYSIS
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
5.0-1
This section discusses significant unavoidable impacts, growth-inducing impacts, and significant
irreversible changes associated with the project.
5.1 SIGNIFICANT UNAVOIDABLE IMPACTS
California Environmental Quality Act (CEQA) Guidelines Section 15126.2(b) requires an
environmental impact report (EIR) to discuss unavoidable significant environmental effects,
including those that can be mitigated but not reduced to a level of insignificance. In addition,
CEQA Guidelines Section 15093(a) allows the decision-making agency to determine whether the
benefits of a project outweigh its unavoidable adverse environmental impacts. The City of South
San Francisco can approve a project with unavoidable adverse impacts if it prepares a Statement
of Overriding Considerations setting forth the specific reasons for making such a judgment.
The project was found to have no significant and unavoidable impacts. As can be seen in Sections
3.0 through 3.11, all significant project impacts would be mitigated to a less than significant level.
5.2 GROWTH-INDUCING IMPACTS
CEQA Guidelines Section 15126.2(d) requires that an EIR evaluate the growth-inducing impacts of
a proposed project. A growth-inducing impact is defined by the CEQA Guidelines as:
The way in which a proposed project could foster economic or population growth, or the
construction of additional housing, either directly or indirectly, in the surrounding environment.
Included in this are projects which would remove obstacles to population growth.
A project can have direct and/or indirect growth inducement potential. For example, direct
growth inducement potential would result if a project involved construction of new housing. A
project would have indirect growth inducement potential if it established substantial new
permanent employment opportunities or if it involved a construction effort with substantial short-
term employment opportunities that would indirectly stimulate the need for additional housing
and services to support the new employment demand (Napa Citizens for Honest Government v.
Napa County Board of Supervisors). Similarly, a project would indirectly induce growth if it
removed an obstacle to additional growth and development, such as removing a constraint on
a required public service. A project providing an increased water supply in an area where water
service historically limited growth could be considered growth-inducing.
The CEQA Guidelines further explain that the environmental effects of induced growth are
considered indirect impacts of a project. These indirect impacts or secondary effects of growth
may result in significant, adverse environmental impacts. Potential secondary effects of growth
include increased demand on other community and public services and infrastructure, increased
traffic and noise, and adverse environmental impacts such as degradation of air and water
quality, degradation or loss of plant and animal habitat, and conversion of agricultural and open
space land to developed uses.
Growth inducement may constitute an adverse impact if the growth is not consistent with, or
accommodated by, the land use plans and growth management plans and policies for the area
affected. Local land use plans establish land use development patterns and provide growth
policies that allow the orderly expansion of urban development supported by adequate urban
public services, such as water supply, roadway infrastructure, sewer service, and solid waste
service.
5.0 OTHER CEQA ANALYSIS
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
5.0-2
PROJECT GROWTH EFFECTS
Direct Growth Effects
The project proposes to update the El Camino Real/Chestnut Avenue (ECR/C) Area Plan land use
designations and construct a new community civic campus and fire station. The project does not
include the construction of housing units in South San Francisco. Therefore, the project would not
result in any direct growth effect in the city.
Indirect Growth Effects
The project would update the land use designation of the western project site from Public to
ECR/C Mixed Use North High Intensity. While the project would construct a fire station on a portion
of the western project site and would not construct housing units, the new land use designation
would allow for the construction of housing units in the future. Any future housing units located on
the western project site would not exceed the limits established in the ECR/C Area Plan. Therefore,
growth-inducing impacts from any future new housing were analyzed in the original ECR/C EIR.
The project would also construct a new community civic campus and Police Station with office
space for the City’s Information Technology (IT) and Human Resources (HR) staff for the city. The
creation of substantial new permanent employment opportunities can be an indirect growth
effect. However, most of the jobs that would occupy these new buildings would move from other
government offices in the city. The project would not create new job growth centers, and any
increase in the number of government employees would be minor.
The project would not construct any new roadways or other infrastructure that could support
substantial growth elsewhere in South San Francisco. Thus, updating the land use designation and
constructing the project buildings would not remove any obstacles to growth, and the project
would not indirectly induce substantial growth in the city.
The demolition, site preparation, and construction activities would require a substantial number of
workers to complete. Project construction would take place over approximately 28 months.
Construction would be temporary and would not indirectly induce substantial growth in the city.
5.3 SIGNIFICANT IRREVERSIBLE ENVIRONMENTAL CHANGES
CEQA Guidelines Section 15126.2(c) describes irreversible environmental changes in the following
manner:
Uses of nonrenewable resources during the initial and continued phases of the project may be
irreversible since a large commitment of such resources makes removal or nonuse thereafter unlikely.
Primary impacts and, particularly, secondary impacts (such as highway improvement which
provides access to a previously inaccessible area) generally commit future generations to similar
uses. Also irreversible damage can result from environmental accidents associated with the project.
Irretrievable commitments of resources should be evaluated to assure that such current consumption
is justified.
Project implementation would result in the conversion of undeveloped land on the eastern project
site to public uses. Development of the area was envisioned in the ECR/C Area Plan previously,
but this project would change projected uses from residential/commercial to public. It is unlikely
that circumstances would arise which would justify the return of those sites to their original
condition, as surrounding areas are developed.
5.0 OTHER CEQA ANALYSIS
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
5.0-3
Project development would irretrievably commit building materials and energy to the
construction and maintenance of buildings and infrastructure. Renewable, nonrenewable, and
limited resources that would likely be consumed as part of project development would include
but are not limited to oil, gasoline, lumber, sand and gravel, asphalt, water, steel, and similar
materials. However, the project would not result in significantly increased demand on public
services and utilities (see Section 3.11, Utilities and Service Systems).
The project would be required by law to comply with California Code of Regulations Title 24 and
would not be expected to use energy or any other resources in a wasteful manner. The project
would also be required to implement the City’s Climate Action Plan (CAP) energy conservation
measures (see Section 3.6, Greenhouse Gases and Climate Change). The project would also
comply with green building and site design requirements in the ECR/C Area Plan such as passive
heating/cooling strategies, low water consumption planting, and stormwater management.
5.4 ENERGY CONSUMPTION
Energy consumption is analyzed in this SEIR due to the potential direct and indirect environmental
impacts associated with the project. Such impacts include the depletion of nonrenewable
resources (oil, natural gas, coal, etc.) and emissions of pollutants during both the construction and
long-term operational phases.
A summary of the impact conclusions related to energy is provided below.
Impact Number Impact Topic Impact Significance
5.4.1 Wasteful, inefficient, and unnecessary consumption
of energy Less than significant
5.4.2 Cumulative wasteful, inefficient, and unnecessary
consumption of energy Less than cumulatively considerable
ELECTRICITY/NATURAL GAS SERVICES
The Pacific Gas and Electric Company (PG&E) provides electrical and natural gas services to the
South San Francisco area through state-regulated public utility contracts. PG&E’s ability to provide
its services concurrently for each project is evaluated during the development review process.
The utility company is bound by contract to update its systems to meet any additional demand.
PG&E’s Electric and Gas Rules 15 and 16 establish guidelines for the extension of distribution lines
necessary to furnish permanent services to customers. PG&E also outlines responsibilities for
installation and extension allowances, as well as financial contributions by project applicants.
ENERGY USAGE
Energy usage is typically quantified using the British thermal unit (BTU). Total energy usage in
California was 7,620 trillion BTUs in 2014 (the most recent year for which this specific data is
available), which equates to an average of 196 million BTUs per capita. Of California’s total energy
usage, the breakdown by sector is 39 percent transportation, 24 percent industrial, 19 percent
commercial, and 18 percent residential. Electricity and natural gas in California are generally
consumed by stationary users such as residences and commercial and industrial facilities, whereas
petroleum consumption is generally accounted for by transportation-related energy use (EIA
2017). In 2014, taxable gasoline sales (including aviation gasoline) in California accounted for
about 14.6 billion gallons of gasoline (BOE 2016).
5.0 OTHER CEQA ANALYSIS
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
5.0-4
The electricity consumption attributable to nonresidential land uses in San Mateo County from
2012 to 2015 is shown in Table 5.0-1. As indicated, demand has remained relatively constant since
2012.
TABLE 5.0-1
NONRESIDENTIAL ELECTRICITY CONSUMPTION IN SAN MATEO COUNTY 2012–2015
Year Nonresidential Electricity Consumption
(in millions of kilowatt-hours)
2015 2,907.24
2014 2,956.93
2013 2,961.08
2012 2,928.13
Source: ECDMS 2017
The natural gas consumption attributable to nonresidential land uses in San Mateo County from
2012 to 2015 is shown in Table 5.0-2. The nonresidential demand has decreased, even with an
increase in population.
TABLE 5.0-2
NONRESIDENTIAL NATURAL GAS CONSUMPTION IN SAN MATEO COUNTY 2012–2015
Year Nonresidential Natural Gas Consumption
(in millions of therms)
2015 88.47
2014 87.33
2013 95.73
2012 92.41
Source: ECDMS 2017
Daily automotive fuel consumption in the county from 2012 to 2017 is shown in Table 5.0-3.
TABLE 5.0-3
ANNUAL AUTOMOTIVE FUEL CONSUMPTION IN SAN MATEO COUNTY 2012–2017
Fuel Consumption (gallons)
Year On-Road Automotive Off-Road Automotive (construction equipment)
2017 (projected) 310,199,265 2,414,426
2016 311,965,500 2,474,804
2015 311,874,980 2,505,687
2014 311,803,075 2,687,168
2013 310,308,765 2,862,056
2012 308,295,425 3,015,083
Source: California Air Resources Board, EMFAC2014
5.0 OTHER CEQA ANALYSIS
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
5.0-5
REGULATORY FRAMEWORK
State
California’s Energy Efficiency Standards for Residential and Nonresidential Buildings (Title 24)
Title 24, California’s energy efficiency standards for residential and nonresidential buildings, was
established by the California Energy Commission (CEC) in 1978 in response to a legislative
mandate to create uniform building codes to reduce California’s energy consumption and
provide energy efficiency standards for residential and nonresidential buildings. In 2013, the CEC
updated Title 24 standards with more stringent requirements. The 2013 standards are expected to
substantially reduce the growth in electricity and natural gas use. Additional savings result from
the application of the standards to building alterations. For example, requirements for cool roofs,
lighting, and air distribution ducts are expected to save additional electricity. These savings are
cumulative, doubling as years go by. The 2016 standards were approved and went into effect on
January 1, 2017. California’s energy efficiency standards are updated on an approximate three-
year cycle.
California Green Building Standards
The California Green Building Standards Code (California Code of Regulations, Title 24, Part 11),
commonly referred to as the CALGreen Code, is a statewide mandatory construction code that
was developed and adopted by the California Building Standards Commission and the California
Department of Housing and Community Development. The CALGreen standards require new
commercial and residential buildings to comply with mandatory measures under the topics of
planning and design, energy efficiency, water efficiency and conservation, material conservation
and resource efficiency, and environmental quality. CALGreen also has voluntary tiers and
measures that local governments may adopt which encourage or require additional measures in
the five green building topics. The most recent update to the CALGreen Code was adopted in
2013 and went into effect July 1, 2014.
Recent CEQA Litigation
In California Clean Energy Committee v. City of Woodland (2014) 225 Cal.App.4th 173, the court
observed that CEQA Guidelines Appendix F lists environmental impacts and mitigation measures
that an EIR may include. Potential impacts requiring EIR discussion include:
1) The project’s energy requirements and its energy use efficiencies by amount and fuel type
for each stage of the project including construction, operation, maintenance, and/or
removal. If appropriate, the energy intensiveness of materials may be discussed.
2) The effects of the project on local and regional energy supplies and on requirements for
additional capacity.
3) The effects of the project on peak and base period demands for electricity and other
forms of energy.
4) The degree to which the project complies with existing energy standards.
5) The effects of the project on energy resources.
5.0 OTHER CEQA ANALYSIS
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
5.0-6
6. The project’s projected transportation energy use requirements and its overall use of
efficient transportation alternatives.
Local
City of South San Francisco Climate Action Plan
The City adopted its Climate Action Plan (CAP) in 2014. While the CAP is focused on efforts to
reduce the city’s impact on climate change and how to adapt to the effects of climate change,
many of the goals and measures outlined in the CAP involve improving the energy efficiency,
reducing the solid waste stream, and promoting the water use efficiency of the city’s future and
existing municipal and nonresidential facilities. Goals and measures that are relevant to the
proposed project are listed below.
Nonresidential Facilities
Goal EE1: Increase Building Energy Efficiency.
Measure 3.1: Maximize energy efficiency in the built environment through standards
and the plan review process. [This measure encourages new or remodeled building
projects to exceed state efficiency standards and to participate in utility-sponsored or
statewide energy efficiency programs.]
Measure 3.3: Encourage energy efficiency retrofits to the existing nonresidential
building stock that reduce operating costs and increase industry competitiveness. [This
measure encourages building owners, tenants, and PG&E to implement smart grid
technology and complete energy efficiency projects.]
Goal EE2: Increase Alternative Energy Options in South San Francisco.
Measure 4.1: Promote installation of alternative energy facilities. [This measure includes
the requirement for new conditioned spaces of 5,000 square feet or greater to meet
50 percent of the buildings’ electricity need with renewable sources.]
Goal W1: Reduce Waste Disposal Rates and Volumes.
Measure 5.1: Develop a waste reduction strategy to increase recycling and reuse of
materials to achieve a 75% diversion of landfilled waste by 2020.
Goal WE1: Conserve Water.
Measure 6.1: Reduce water demand. [This measure would support implementation of
the Urban Water Management Plan to reduce potable water use by at least 20
percent and implementation and enforcement of the Water Efficient Landscape
Ordinance.]
Measure 6.2: Provide alternative water resources for irrigation. [This measure would
create policies for the capture of storm runoff and collaborating with other
municipalities in a Recycled Water Project.]
5.0 OTHER CEQA ANALYSIS
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
5.0-7
Municipal Operations
Measure 7.1: Promote energy efficiency policies at municipal facilities.
Action 1. Conduct audits of existing facilities, prioritize improvements, and upgrade
facilities to save energy.
Measure 7.2: Conserve municipal water. [Actions associated with this measure would
install water-efficient landscaping on City properties, reduce turf areas and train City
employees on the use and installation of water-saving technology and auditing.]
STANDARDS OF SIGNIFICANCE
Significance Criteria
Based on Appendix F of the CEQA Guidelines, energy impacts are considered to be significant if
the project would result in any of the following:
1) Develop land uses and patterns that cause wasteful, inefficient, and unnecessary
consumption of energy or construct new or retrofitted buildings that would have excessive
energy requirements for daily operation.
The impact analysis focuses on the three sources of energy that are relevant to the proposed
project: electricity, natural gas, and the fuel necessary for project construction.
The analysis of electricity/natural gas usage is based on California Emissions Estimator Model
(CalEEMod) modeling, which quantifies energy use for occupancy. The results of the CalEEMod
modeling are included in Appendix GHG of this Draft SEIR. Modeling was based primarily on the
default settings in the computer program for San Mateo County, as well as on the transportation
impact analysis prepared for the project (Appendix TRA). The amount of operational automotive
fuel use was estimated using the California Air Resources Board’s EMFAC2014 computer program,
which provides projections for typical daily fuel usage in San Mateo County. The amount of total
construction-related fuel use was estimated using ratios provided in the Climate Registry (2016)
General Reporting Protocol for the Voluntary Reporting Program, Version 2.1.
IMPACTS AND MITIGATION MEASURES
Wasteful, Inefficient, and Unnecessary Consumption of Energy
Impact 5.4.1 The project would not use energy in a wasteful manner. The impact would be
less than significant.
2011 ECR/C Area Plan Impacts
The ECR/C EIR determined that development under the Area Plan would potentially increase the
total demand for electricity and natural gas services in proportion to the increase in population
and jobs. The commercial/industrial sector would remain the principal source of demand. The
ECR/C EIR explained that even with additional demand, improvements in energy efficiency would
be achieved through adherence to the California Energy Efficiency Standards for Residential and
Nonresidential Buildings (Title 24, Part 6) and the CALGreen Code (Title 24, Part 11), which outlines
improved site planning and building design as well as energy conservation measures. The ECR/C
EIR noted that reductions achievable through energy-efficient design were not included in the
5.0 OTHER CEQA ANALYSIS
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
5.0-8
estimates because the detail needed to estimate specific reductions was not available at the
plan level. As such, the energy demand estimates were conservative. The ECR/C EIR concluded
that energy use would not be wasteful, inefficient, or unnecessary, resulting in a less than
significant impact (South San Francisco 2011b).
Subsequent Project Impacts
Energy consumption associated with the proposed project is summarized in Table 5.0-4.
TABLE 5.0-4
PROPOSED PROJECT ENERGY CONSUMPTION
Energy Type Annual Energy Consumption Percentage Increase Countywide
Electricity Consumption1 3,516,379 kilowatt-hours 0.12%
Natural Gas Consumption1 27,826 therms 0.03%
Automotive Fuel Consumption2
Project Construction 183,350 gallons 7.59%
Project Operations 500,050 gallons 0.16%
Sources:
1. California Emissions Estimator Model (CalEEMod v. 2016.3.1)
2. California Air Resources Board, EMFAC2014
The project would consume energy for interior and exterior lighting, heating, ventilation, and air
conditioning (HVAC), refrigeration, electronics systems, appliances, and security systems, among
other things. The project would be required to comply with Title 24 building energy efficiency
standards, which establish minimum efficiency standards related to various building features,
including appliances, water and space heating and cooling equipment, building insulation and
roofing, and lighting. Implementation of the Title 24 standards significantly reduces energy usage.
As depicted in Table 5.0-4, the project-related building energy would represent a 0.12 percent
increase in electricity consumption and a 0.03 percent increase in natural gas consumption over
the current countywide usage. The project would adhere to all federal, state, and local
requirements for energy efficiency, including the Title 24 standards. The project would not result in
the inefficient, wasteful, or unnecessary consumption of building energy.
As indicated, the project’s fuel consumption during construction is estimated to be 183,350
gallons, which would increase fuel use in the county by 7.59 percent. As such, project construction
would have a nominal effect on local and regional energy supplies. It should be noted that
construction fuel use is temporary and would cease upon completion of project construction. No
unusual project characteristics would necessitate the use of construction equipment that would
be less energy-efficient than at comparable construction sites in the region or the state. Therefore,
it is expected that construction fuel consumption associated with the project would not be any
more inefficient, wasteful, or unnecessary than other similar development projects of this nature.
As indicated in Table 5.0-4, project operation is estimated to consume approximately 500,050
gallons of fuel per year, which would increase countywide automotive fuel consumption by 0.16
percent. The amount of operational fuel use was estimated using the California Air Resources
Board’s EMFAC2014 computer program, which provides projections for typical daily fuel usage in
San Mateo County. The project would not result in any unusual characteristics that would result in
excessive long-term operational fuel consumption. Fuel consumption associated with vehicle trips
5.0 OTHER CEQA ANALYSIS
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
5.0-9
generated by the project would not be considered inefficient, wasteful, or unnecessary in
comparison to other similar developments in the region.
The project would not cause a substantial increase in demand or transmission service that would
result in the need for new or expanded sources of energy supply or new or expanded energy
delivery systems or infrastructure. This impact would continue to be less than significant.
Mitigation Measures
None required.
CUMULATIVE IMPACTS
Cumulative Wasteful, Inefficient, and Unnecessary Consumption of Energy
Impact 5.4.2 The proposed project, combined with other related cumulative projects, would
not develop land uses and patterns that cause wasteful, inefficient, and
unnecessary consumption of energy or construct new or retrofitted buildings
that would have excessive energy requirements for daily operation. The impact
would be less than cumulatively considerable.
2011 ECR/C Area Plan Impacts
Forecast population and employment growth in the ECR/C Area Plan would result in increased
energy usage. Energy use under the proposed plan would be moderated by California
regulations, which will ensure that energy use will not be wasteful, inefficient, and unnecessary
(South San Francisco 2011b, p. 5-4).
Subsequent Project Impacts
Quantifying and/or analyzing energy consumption by cumulative projects in the area would be
speculative in nature, as the proposed land use types, intensities, and sizes of all projects are
unknown at this time. However, each cumulative project would require separate discretionary
approval and CEQA assessment, which would address potential energy consumption impacts
and identify necessary mitigation measures, where appropriate.
As noted in Impact 5.4.1, the project would not result in significant energy consumption impacts
and would not be considered inefficient, wasteful, or unnecessary with regard to energy. Thus, the
project’s contribution would continue to be less than cumulatively considerable.
Mitigation Measures
None required.
5.0 OTHER CEQA ANALYSIS
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
5.0-10
5.5 REFERENCES
BOE (California Board of Equalization). 2016. Net Taxable Gasoline Sales.
http://www.boe.ca.gov/sptaxprog/reports/mvf_10_year_report.pdf.
California Air Resources Board. 2014. EMFAC2014 Emissions Model.
Climate Registry. 2016. General Reporting Protocol for the Voluntary Reporting Program, Version
2.1.
ECDMS (California Energy Consumption Data Management System). 2017. Electricity and
Natural Gas Consumption by County. http://www.ecdms.energy.ca.gov/.
EIA (US Energy Information Administration). 2017. California State Profile and Energy Estimates.
http://www.eia.gov/state/data.cfm?sid=CA#ConsumptionExpenditures.
South San Francisco, City of. 2011a. El Camino Real/Chestnut Avenue Area Plan – General Plan
Amendment.
———. 2011b. City of South San Francisco El Camino Real/Chestnut Avenue Area Plan, and
associated General Plan Amendment, and Zoning Ordinance Amendment. Final
Environmental Impact Report.
———. 2014. Climate Action Plan.
6.0 – REPORT PREPARERS
6.0 REPORT PREPARERS
City of South San Francisco Community Civic Campus Project
July 2017 Draft SEIR
6.0-1
CITY OF SOUTH SAN FRANCISCO
Senior Planner .................................................................................................................................. Tony Rozzi
City Attorney ...................................................................................................................... Jason Rosenberg
City Attorney ............................................................................................................................... Myers Nave
Principal Engineer ......................................................................................................................Sam Bautista
MICHAEL BAKER INTERNATIONAL
Project Manager .......................................................................................................................Darcy Kremin
Senior Planner ................................................................................................................... Florentina Craciun
Senior Reviewer ........................................................................................................... Katrina Hardt-Holoch
Senior Air Quality and GHG Analyst .......................................................................................... Seth Myers
Air Quality and GHG Analyst .............................................................................................. Xico Manarolla
Biologist ................................................................................................................................. Brendan Cohen
Senior Cultural Resources Manager ........................................................................ Nichole Jordan Davis
Architectural Historian ............................................................................................................ Margo Nayyar
Environmental Planner ............................................................................................................. Drake Hebert
Graphics ..................................................................................................................................... Adam Grace
GIS Analyst ........................................................................................................................... Richard Harmon
Technical Editor ...................................................................................................................... Suzanne Wirth
KIMLEY-HORN – TRAFFIC CONSULTANT
Project Manager ............................................................................................................................... Ben Huie
6.0 REPORT PREPARERS
Community Civic Campus Project City of South San Francisco
Draft SEIR July 2017
6.0-2
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