HomeMy WebLinkAboutCostco Final EIR 08-1999Final
Environmental Impact Report
Project
Costco Facility
S CH#
99032047
Lead Agency:
City of South San Francisco
August, 1999
Introduction and Project Description
A Draft Environmental Impact Report (DEIR) for the proposed project was prepared
and circulated from Apri130 to June 14, 1999. The proposed project includes
construction of a new retail/wholesale warehouse facility on the east side of El
Camino Real (State Route 82) approximately 1,200 feet south of the intersection of El
Camino Real and Hickey Boulevard. The street address of the property is 1556 El
Camino Real. Assessor's Parcel Number for the site is 010-212-070.
A Costco Wholesale warehouse sales facility is planned to be located on the
northwest corner of the site. This building would include approximately 147,000
gross square feet of floor area in a single story configuration, with primary interior
uses being administrative offices, a central receiving area and the sales portion of
the building. The building would be used for selling goods and services, including
food products, clothing, personal care, household and electronic goods, automotive
supplies and similar products for resale, commercial and personal use.
Another component of the project would be an automobile gasoline facility to be
constructed in conjunction with the warehouse facility. The gasoline facility would
be located along the easterly side of the site. Use of the gasoline facility would be
restricted to Costco Wholesale members only. Four pump islands under a canopy
would be built with 8self-service pumps installed. A maximum of 16 vehicles could
be refueled at one time. New underground tanks would be installed as part of the
gasoline facility.
In addition to the above, up to 50,000 square feet of retail space is proposed to be built
on the project site, although specific users and a precise site plan have not been
developed. While certification of this EIR would constitute compliance with the
California Environmental Quality Act (CEQA) for such future development, that
development would remain subject to requirements for a future use permit and
design review approvals.
Under CEQA and implementing CEQA Guidelines, after completion of the Draft EIR,
lead agencies are required to consult with and obtain comments from public agencies
and organizations having jurisdiction by law over elements of the project and to
provide the general public with an opportunity to comment on the Draft EIR. Lead
agencies are also required to respond to substantive comments on environmental
issues raised during the EIR review period.
The South San Francisco Planning Commission also held a noticed public hearing on
the DEIR on June 3, 1999, for the purpose of soliciting comments from the Planning
Commission and public.
This document contains all public comments received during the 45-day public review
process regarding the DEIR and responses to those comments. Included within the
document is a summary of each comment followed by a response to that comment.
Each EIR comment letter is then printed following the responses.
The FEIR also contains addenda and minor corrections to information presented in the
DEIR.
Addenda to DEIR Project Description
The design of the Costco Wholesale warehouse and gasoline facilities has been refined
since the application for the use permit was filed, and the description of the project is
restated here, including those refinements.
The proposed project is a 147,000 square feet member's only Costco Wholesale store
and a member's only Costco Wholesale gasoline facility containing 4 islands with 2
dispensers each, for a total of 16 fueling positions, plus a retail center of
approximately another 48,000 square feet. The proposed project site is a 20.03 acre
portion of a larger property, currently 26.74 acres in size, located on the east side of El
Camino Real about 1200 feet southeast of the El Camino Real/Hickey Boulevard
intersection. While El Camino Real generally is a north-south roadway, it turns and
at the project site runs diagonally to its general north-south alignment.
Nevertheless, for reference purposes, project directions shall be stated as if El
Camino Real were running north-south.
The San Mateo County Transit District ("SamTrans") has filed an action in eminent
domain against Costco Wholesale and its subsidiary which owns the land, Costco
SSF, LLC. That action seeks to acquire an L-shaped 3.12 acre portion of southern-
most part of the property for the Bay Area Rapid Transit District ("BART") South
San Francisco Station (the "Station Parcel"); a 2.54 acre portion in the apex of that L
under a temporary construction easement through October, 2002, for use as the
concrete batch plant for construction of the BART San Francisco Airport Extension
(the "Batch Plant Parcel"); a 1.05 acre portion just north of the Batch Plant Parcel as a
permanent roadway easement for the Hickey Boulevard extension (the "Roadway
Parcel"); and a 0.70 acre portion in the northeasterly corner of the property under a
temporary construction easement through October, 2000, for a BART construction
staging area. It is anticipated that SamTrans will establish the Station Parcel and the
Roadway Parcel as separate parcels from the balance of the property by means of
administrative subdivision of these areas, thereby also dividing the Batch Plant
Parcel from the balance of the Costco SSF, LLC property.
Costco Wholesale is a cash and carry retail/wholesale operation, selling high quality
national brands and private label merchandise at low prices for resale, commercial
and personal use. It also sells to individuals who are members of selected employee
groups. Warehouse hours of operation will be Monday through Friday from 10:00
AM to 8:30 PM, Saturday 9:30 AM to 5:00 PM and Sunday 10:00 AM to 5:00 PM.
Costco Wholesale Project Final EIR Page z
City of South San Francisco August 1999
In conjunction with the new warehouse, Costco Wholesale is also proposing to
construct a gasoline facility that is an ancillary use. The gasoline facility includes
eight self-serve dispensers on four pump islands, which totals sixteen fueling
positions. Like the warehouse, the gasoline facility is only open to Costco
Wholesale members. Members must purchase gas electronically using both their
membership card and a credit card or debit card, which except for periodic
maintenance, eliminates the need for attendants. The facility is also equipped with
video cameras and a Help Phone, both of which are monitored from the Costco
Wholesale store during business hours. Hours of operation for the gasoline facility
will be from 6:00 AM to 10:00 PM weekdays and 7:00 AM to 8:00 PM weekends.
The project site previously was occupied by a Macy's department store distribution
warehouse. The warehouse has been demolished.
The project site is bordered by a vacant parcel and Colma Creek to the east, El
Camino Real to the west, the Roadway Parcel and the Batch Plant Parcel to the south
and an existing trailer court to the north. The site is relatively flat and there are no
cultural, historic or scenic aspects of note on the property. The Costco Wholesale
store and gasoline facility will occupy the northern-most 15.12acres (the "Costco
Wholesale Parcel"). Because of the refinements in the project since the filing of
Costco Wholesale's application, the anticipated development of the 4.91-acre balance
of the site (the "Residual Parcel") has been reduced from the initially envisioned
73,000 square feet. The Residual Parcel is intended to contain retail development
and the revised proposal is to provide for approximately 48,000 square feet of retail
space on that parcel. There are no current plans for the use or development of the
Batch Plant Parcel, and it is not a part of this application.
The entire project is designed as single story retail structures with adjacent surface
parking. All buildings will be architecturally consistent and the site will be
landscaped as per city requirements. Parking spaces on the Costco Wholesale Parcel
will number 851 stalls, which exceeds the city code minimum requirement for the
Costco Wholesale store. Parking for the intended 48,000 square feet of retail space on
the Residual Parcel will be provided on the Residual Parcel. Vehicular and
pedestrian access to the site will be from El Camino Real by a new signalized drive
entrance.
1. Use permit required for:
a) Non-residential land uses that generate in excess of 100 average daily
vehicle trips
b) Sale of gasoline. The Costco Wholesale gasoline facility will strictly be used
for the sale and dispensing of fuel to Costco Wholesale members only.
Hours of operation will be as described in the gasoline facility description
above.
Costco Wholesale Project Final EIR Page 3
City of South San Francisco August 1999
c) Ancillary automotive related services. Within the Costco Wholesale retail
building approximately 5,200 square feet will be devoted to tire sales and
installation. All tire installation will be performed entirely within the
building during the normal hours of operation for the warehouse.
2. Design approvals from the South San Francisco Planning Commission regarding
Site Plan and Elevations.
Pro~ct P_ basing
Phase I: Rough grade and install infrastructure for the Costco Wholesale
site in addition rough grade and provide necessary future utility
connections to the Residual Parcel.
Phase II: Construct the Costco Wholesale store and related site
improvements, including the full width of the entry drive.
Phase III: Develop approximately 48,000 square feet of retail space on the
Residual Parcel.
Costco Wholesale Project Final EIR Page 4
City of South San Francisco August 1999
Summary of Comment Letters
Comment letters were received by the City of South San Francisco during the 45-day
public comment period on the DEIR from the following agencies and organizations.
Commentator Date
1 Federal Agencies
None received --
2 State Agencies
None Received --
3 Local Agencies
3.1 C/CAG (CMA) 5/19/99
3.2 Town of Colma 6/11/99
3.3 Town of Colma 6/14/99
3.4 Ci of Dal Ci 6/11/99
4 Interested Individuals
4.1 Henn and Etzel 6/15/99
4.2 Smith En ineerin & Mana ement 6/10/99
4.3 RGA Environmental Inc. 6/14/99
5.1 Planning Commission Public
Hearing Testimony 6/3/99
5.1.1
5.1.2
5.1.3
5.1.4
5.1.5
5.1.6
5.1.7
5.1.8
5.1.9
5.1.10 Ted Simas,
Dennis DeCota,
Keith Simas, South San Francisco
Planning Commission
Commissioner Comment
Commissioner Comment
Commissioner Comment
Commissioner Comment
Commissioner Comment
Commissioner Comment
Costco Wholesale Project Final EIR Page 5
City of South San Francisco August 1999
Responses to Continents
This is a summary of each of the comments and the response of the City of South
San Francisco. Each letter has been reviewed and divided into smaller comments as
noted by annotations in the margin in each of the letters. Each comment is then
summarized and responded to below. The full text of each letter with annotations
follows this section.
Comment 3.1: C/CAG
• Comment 3.1.1: The DEIR incorrectly states that the CMP Level of Service in
the vicinity of the project is LOS E. The 1997 CMP indicates the correct LOS is
D.
Response: The CMP LOS standard for I-280 segment from SR1 South to San
Bruno Avenue is LOS D. The report shows an error as LOS E, which has been
corrected. However this does not change the analysis or the conclusion of no
significant impact (see response to Comment 3.1.2). In addition, a more recent
analysis of I-280 segments near the project site indicates that project traffic
would add 0.73% to existing segment volumes. This would be a less-than-
significant impact.
• Comment 3.1.2: The DEIR notes that the project would increase traffic on
local freeway segments, however, with the subtraction of interregional traffic,
impacts of the project would be insignificant. C/CAG staff notes that the
project would add significant traffic to the local freeway system.
Response: Although the proposed project would increase local traffic
congestion, a deficiency plan is not required due to interregional travel credit.
CMP roadway segments were evaluated based on San Mateo County CMP
guidelines. Under the Near-Term as well as Long-Term Project Conditions,
the 1-280 segment between Hickey Boulevard and Westborough Boulevard is
projected to operate at an unacceptable level of service F without factoring in
CMP-authorized exemptions. According to the CMP guidelines, the 1997
reported LOS for this segment is LOS "E" without exemptions and LOS "A"
with exemptions. By adding the background and the project traffic to this
segment, the LOS would degrade from "E" to "F." The project would add
more traffic to the already deficient roadway segment that would further
increase congestion and travel delay. The project would add approximately
0.73% to existing volumes. C/CAG only requires the local jurisdiction to
prepare a deficiency plan if the C/CAG biennial monitoring discovers that the
standard has degraded from LOS "D" to LOS "F" after certain exemptions such
as interregional travel, traffic from freeway ramp metering, traffic from very
low income housing, and others are applied. The 1997 LOS "A" with
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City of South San Francisco August 1999
exemptions is based upon the exclusion of interregional trips that do not
originate from the vicinity of the segment or local jurisdiction.
Based on the 1997 LOS monitoring report, C/CAG may determine that the
LOS for this segment assuming project generated traffic, with exclusions,
would be "A" or "B." In either event, a deficiency plan would not be required
from the City. Nevertheless, and even though the project would contribute a
less-than-significant amount of traffic to the freeway, the City will require as a
condition of approval of the Use Permit that the project proponent prepare
and implement a TDM program (see response to Comment 3.1.3) and
participate in an interregional deficiency plan developed through C/CAG.
• Comment 3.1.3: The DEIR includes no mitigation for increased freeway
volumes in the vicinity of the project. If approved, the development should
include a Transportation Demand Management strategy.
Response: A condition of Use Permit approval would require the project
developer to prepare and implement a TDM program consisting of measures
such as employee bicycle parking facilities and lockers, appointment of a
transportation coordinator to promote and arrange employee carpooling, and
designation of preferred reserved employee parking spaces for the carpools.
Additionally, the project and the identified mitigation measures are designed
to incorporate some of the specific management strategies suggested in the
attachment to the letter from C/CAG, including signalization improvements,
turn lanes at intersections, and restrictions on curb-side deliveries and on-
street parking. As a condition of approval of the use permit, the TDM
program shall be developed in consultation with City of South San Francisco
staff and the Peninsula Congestion Relief Alliance staff (formerly MTSMA)
and shall be subject to the approval of the City of South San Francisco
Director of Economic and Community Development.
• Comment 3.1.4: Comments made by Daly City indicate that the proposed
project would not be consistent with transit opportunities, such as BART and
bus service.
Response: The City of South San Francisco acknowledges the nearby location
of BART facilities. However, the proposed project is consistent with the City's
General Plan which allows for commercial land uses.
Costco Wholesale Project Final EIR Page 7
City of South San Francisco August 1999
Comment 3.2: Town of Colma (6/11/99)
• Comment 3.2.1: All references in the DEIR should be changed to reflect
"Town of Colma."
Response: Comment acknowledged. The DEIR should reference Town of
Colma and such changes to the DEIR are hereby incorporated by reference
into the DEIR.
• Comment 3.2.2: Previous correspondence from the Town of Colma indicated
that the area located between Mission Road and Colma Creek is designated for
mixed use development.
Response: Comment acknowledged. The DEIR hereby incorporates this
information by reference.
• Comment 3.2.3: The Initial Study notes that approval of the proposed project
could induce growth on other properties in South San Francisco, leading to
possible traffic, air quality, population and housing impacts. Which properties
in the area could redevelop?
Response: Anticipated growth inducing and cumulative impacts associated
with the project have been addressed in Sections 6.4 and 6.5 of the DEIR.
Specific properties in the area of the project that may be expected to redevelop
include the Batch Plant Parcel after October, 2002, and the property on Mission
Road in the Town of Colma east of the project. It is expected, however, that
the South San Francisco BART Station, including the extension of Hickey
Boulevard from EI Camino Real to Mission Road, will be the primary
inducement to such growth, far overshadowing any growth-inducing impacts
of the Costco Wholesale project. The growth-inducing impacts of the BART
station have been analyzed in the EIS/EIR for the BART San Francisco
Airport Extension and have been included in the 2010 background project
conditions for purposes of the present EIR and analysis.
• Comment 3.2.4: The Initial Study notes that the project would have no
impact with respect to noise and there is no discussion on noise in the DEIR.
Response: A subsequent acoustic impact analysis was recently prepared for the
project by the firm of Giroux and Associates. The full text of this analysis is
contained in the Acoustic Appendix. The analysis confirms that there would
be no significant noise impacts related to the construction or operation of the
project.
Costco Wholesale Project Final EIR Page 8
City of South San Francisco August 1999
• Comment 3.2.5: The Town of Colma has concerns related to traffic impacts of
the proposed project. Such concerns will be forwarded in a separate letter.
Response: Comment acknowledged. A second letter was submitted to the City
of South San Francisco on June 14, 1999. See Letter 3.3, following.
• Comment 3.2.6: The Town of Colma recommends that a cross section be
provided through the project site to identify potential aesthetic impacts on
properties within the Town.
Response: See elevation drawings and cross-section drawings in the
Appendix.
• Comment 3.2.7: Identify the "other" source used to evaluate aesthetics
referenced in the DEIR.
Response: The other source was a review of the proposed site plan for the
project.
Comment 3.3: Town of Colma (6/14/99)
• Comment 3.3.1: Signalization of the Mission Boulevard/El Camino Real is
not in the best interest of the Town of Colma at this time.
Response: Comment acknowledged. No further response necessary.
• Comment 3.3.2: The Town of Colma recommends a 30% fair share
contribution for the traffic signal for the Mission Boulevard/El Camino Real
intersection.
Response: The intersection of El Camino Real/Mission Boulevard is
operating at Level of Service (LOS) F under existing conditions. Even
without the addition of project traffic, this intersection is projected to operate
at LOS F in the Years 2000 and 2010. The addition of Project traffic to this
poorly operating intersection would further deteriorate the operating
conditions. Under this situation, the Project is not responsible for direct
improvements. Section 15126.4 (a) (4) of the CEQA Guidelines provides that
mitigation measures must be consistent with all applicable constitutional
requirements, including that there be an essential nexus (connection)
between the mitigation measure and a legitimate governmental interest
(citing Nollan v. California Coastal Commission (1987) 483 U.S. 825); that the
Costco Wholesale Project Final EIR Page 9
City of South San Francisco August 1999
mitigation measure be "roughly proportional" to the impacts of the project
(citing Dolan v. Cit~of Tigard (1994) 513 U.S. 374); and that where the
mitigation measure is an ad hoc exaction, it must be "roughly proportional"
to the impacts (citing Ehrlich v. Chu of Culver Cite (1996) 12 Cal 4th 854). As
confirmed by the California Supreme Court in Ehrlich, these same
requirements of the United States Constitution are also mandated by
California Government Code Section 66000 et. seq. (also known as AB 1600
and the Mitigation Fee Act).
In the present case, there is an essential nexus between a mitigation measure
designed to offset traffic congestion and the governmental interest in
providing safe and effective public streets and highways. The project,
however, would account for only a relatively small proportion of the traffic
which would necessitate the intersection improvements (ranging from 1.4%
at the Grand Avenue/Chestnut Avenue intersection, to 14.1% at the Hickey
Boulevard/Hilton Avenue intersection if the Residual Parcel were to be
developed to 73,000 square feet of retail space), and to require the project to
make improvements directly would violate the cited constitutional and
statutory requirements. Therefore, the traffic analysis has determined the
proportion of traffic attributable to the project at each impacted intersection
during the weekday PM peak hour when traffic is worst and presents the
conditions which the intersection improvements are designed to alleviate.
The project will then be assessed a percentage of the anticipated cost of those
improvements equal to its proportion of the traffic. In this way, the
mitigation measure is an ad hoc exaction, which is roughly proportional to
the impacts of the project and represents the project's fair share contribution.
The project's fair share contribution for the Mission Boulevard/EI Camino
intersection is calculated, at 3.6 percent. As the intersection is beyond the
jurisdictional limits of the City of South San Francisco, the City would
estimate the dollar amount of the project's fair share contribution to the cost
of signalizing the intersection and the City would reserve that amount for
disbursement to the Town of Colma/Caltrans when they determine to
signalize the intersection..
Comment 3.4: City of Daly City
• Comment 3.4.1: The intersections of Hickey Boulevard/Gellert Boulevard
and Serramonte Boulevard/Junipero Serra Boulevard should be included in
the analysis.
Response: These intersections have been studied in response to the above
comment. The existing PM intersection analysis for the Hickey
Boulevard/Gellert Boulevard intersection indicates LOS D. The year 2010 PM
Costco Wholesale Project Final EIR Page 10
City of South San Francisco August 1999
analysis with and without the project traffic also indicates an acceptable LOS
D. Therefore, no significant impact is identified.
Based on the recent traffic data collection for the Serramonte
Boulevard/junipero Serra Boulevard intersection, the existing condition
analysis indicates a level of service C during both the weekday PM and the
weekend afternoon peak hours. With the addition of project traffic, this
intersection is projected to operate at level of service C at both the weekday
PM and weekend afternoon peak hours in both the Near-Term and Long-
Term. Therefore, no significant impact is identified.
• Comment 3.4.2: The proposed development should comply with the 1995
CMP. At some intersections, it appears that the DEIR uses a different
parameter to determine LOS. The EIR should outline why different
parameters were used and how each intersection complies with CMP
intersection LOS definitions.
Response: Refer to the comment and response 3.1.1 from C/CAG and the
response thereto. Through its design and the proposed mitigation measures,
the project is intended to comply with the Final Congestion Management
Agency Program for 1997, which is the applicable CMP until the next revision
estimated to occur approximately on December 1, 1999. The authorizing
legislation for the congestion management program, California Government
Code Section 65088, et. seq., provides that level of service (LOS) shall be
measured by Circular 212, by the most recent Highway Capacity Manual, or by
a uniform methodology adopted by C/CAG and approved by the
Metropolitan Transportation Commission (Government Code Section 65089
(b) (1) (A). For purposes of measuring impacts on CMP network roadway
segments and intersections, C/CAG has adopted Circular 212, volume-to-
capacity ratio methodology, apparently because in a 1991 survey that
methodology was being used by a plurality of the responding San Mateo
County cities (1997 CMP, page 3.5). However, the CMP provides, on pages 6-4
to 6-5, "Jurisdictions may use their own site traffic impact analyses, their own
travel forecasting models or C/CAG's Travel Demand Forecasting Model to
assess the impacts of large development proposals on the CMP network. If a
jurisdiction uses its own travel forecasting model to assess impacts, it must be
consistent with MTC's regional model and C/CAG's modeling and
measurement standards. This flexibility between Circular 212 and the
Highway Capacity Manual methodologies is possible because both rely on
similar data and measurement standards for their analyses, so that they are
consistent.
In compliance with these provisions, the long-term (2010) traffic analysis for
the proposed project actually uses a special model prepared for the BART SFO
extension project, based on the MTC regional model for travel forecasting.
Costco Wholesale Project Final EIR Page 11
City of South San Francisco August 1999
The traffic analysis measures LOS in accordance with the most recent version
of the Highway Capacity Manual. To assure consistency in LOS computations
and measurement standards, the project traffic study also uses C/CAG's
Circular 212 methodology to compute LOS for the I-280 and El Camino Real
roadway segments. These roadway segments are the only parts of the CMP
network which would be impacted by the project. There are no CMP network
intersections located within the study area, so C/CAG has not calculated LOS
for any of the intersections that would be impacted by the proposed project.
Without C/CAG intersections ratings to which to compare project impacts,
the City of South San Francisco elected to use the Highway Capacity Manual
methodology because this methodology is based primarily on average stopped
delay time per vehicle, it is more indicative of driver discomfort and
frustration, and it encompasses other parameters including volume-to-
capacity ratios.
• Comment 3.4.3: When determining intersection LOS using the CMP method,
both Hickey Boulevard/I-280 intersections show worse LOS than reported in
the DEIR.
Response: See response to Comment 3.4.2. According to the CMP guidelines,
there are no CMP intersections in the study area that should be analyzed
using the CMP method.
• Comment 3.4.4: The DEIR states that the CMP LOS standard for I-280 from
Hickey Boulevard to Westborough Boulevard is LOS E. The 1995 CMP defines
LOS standard for this segment as LOS D.
Response: Comment acknowledged. Refer to the aforementioned response to
Comment 3.1.1 from C/CAG.
• Comment 3.4.5: It is unclear if the DEIR is addressing the AM or PM peak
period. Please clarify this and also include an analysis of peak weekend
conditions.
Response: The draft traffic impact analysis addresses the PM peak hour
analysis.
Costco Wholesale attracts more traffic on the weekend than on weekdays, but
existing conditions were assumed to include less traffic on the weekend so
that the weekday PM peak would present the worst case. Based on this
assumption, the weekend was excluded from the scope of the traffic study for
the DEIR. The validity of this scoping decision was tested in response to the
above comment and Comment 4.2.13 by determining Saturday peak trips and
Costco Wholesale Project Final EIR Page 12
City of South San Francisco August 1999
examining their impact on the critical intersections. Those intersections were
selected because of proximity to the project (EI Camino Real/Hickey
Boulevard and El Camino Real/Mid-Peninsula Driveway), positioning
between the project and its primary freeway access (Junipero Serra
$oulevard/Hickey Boulevard) and relation to other Saturday traffic
generating locations and specific request of Daly City per Comment 3.4.1
(Gellert Boulevard/Hickey Boulevard and Junipero Serra
Boulevard/Serramonte Boulevard). The Saturday peak hour project traffic is
higher than the weekday project traffic. The proposed project would generate
639 inbound and 639 outbound new trips during the Saturday afternoon (1:00
to 2:00 p.m.) peak hour. Table 4A contained in the Traffic Appendix provides
the trip generation data. Based upon the Costco Wholesale trip generation
rate, the year 2000 and 2010 weekend analysis at the most critical intersections
shows that all of the above-referenced intersections would operate at level of
service standard D or better (shown in Table 5 of the Traffic Appendix) during
the Saturday afternoon peak hour. Hence, additional weekend analysis for
other intersections is not indicated.
• Comment 3.4.6: The DEIR should include an expanded discussion of
background traffic. The DEIR text mentions a number of new residential
projects in the area, but with minimal changes to volume to capacity ratios at
the Hickey/I-280 intersection. It appears unlikely that the Hickey/I-280 will be
unaffected, since this would be the main access route to the project. Include
project trip generation and distribution for approved projects in the area to
show which roadways are projected to be used as access routes.
Response: Traffic Appendix B, Table 6 provides the background project trip
generation data. The background projects generate 641 trips during the PM
peak hour. Trips at the intersections for the background projects were
obtained from the previous traffic reports undertaken by the City of South
San Francisco. Please refer to individual project traffic impact analysis reports
for trip distributions, which are available at the City of South San Francisco.
The primary access routes are Hickey Boulevard and Westborough
Boulevard.
• Comment 3.4.7: How were traffic standards of significance developed? They
do not appear to be consistent with the 1995 CMP. Conformance with these
standards is strongly recommended.
Response: Standards of significance used to evaluate traffic and circulation
impacts are based on standards contained in the South San Francisco General
Plan.
Costco Wholesale Project Final EIR Page 13
City of South San Francisco August 1999
• Comment 3.4.8: Although the DEIR indicates that the LOS for some
intersections would be unchanged, intersection delay and volume to capacity
ratios are significantly affected. Intersection LOS is at or near its low in many
instances.
Response: Comment acknowledged. Traffic impacts of the proposed project
are based upon the level of service standard set by the City and not on a
change in delay or volume to capacity ratio within a level of service.
• Comment 3.4.9: Daly City will require mitigation of any negative impact at
City intersections as a result of project traffic.
Response: CEQA requires mitigation of i ' a t negative environmental
impacts to a level of less than significant. All of the proposed project
significant traffic impacts during the worst-case evening peak hour, and
required mitigation measures are identified in the Project Traffic Impact
Analysis.
• Comment 3.4.10: Are long-term traffic impacts outlined in the DEIR
consistent with similar projections completed for other projects in the area,
specifically the BART station?
Response: Yes, the year 2010 traffic forecasts were obtained from BART long
term projections that include traffic from the BART station (Source: Parsons
Brinckerhoff Memorandum dated April 3 and April 21, 1998 addressed to
BATC).
• Comment 3.4.11: Intersection analyses, including LOS and queuing distance
for turn lanes, should be provided for all intersections within Daly City.
Response: The Traffic Impact Analysis Appendix provides the intersection
analysis for the study intersections identified by the lead agency and the
results of queuing requirements. The analysis sheets provide the traffic queue
numbers at each intersection. The Traffic Impact Analysis and Appendix has
been available at the City of South San Francisco. The City, as lead agency,
selected the study intersections based on Costco Wholesale demographic
information, proximity of intersections to the proposed project and possibility
for impact.
Th following additional intersections were requested to be analyzed by the
City of Daly City:
• I-280 SB off-ramp/Serramonte Blvd.;
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City of South San Francisco August 1999
• I-280 NB off-ramp/Serramonte Blvd.
• Junipero Serra Blvd./Serramonte Blvd.;
• El Camino Real Blvd./Serramonte Blvd.
The results of the additional analysis show that all of the project intersections
are currently operating in a satisfactory condition for the weekday PM
condition. The most congested intersections are Junipero Serra
Blvd./Serramonta Blvd. and El Camino Real/Serramonte Blvd. The results
of the analysis are as follows.
Intersection Existing PM Year 2000 Year 2000 Year 2010 Year 2010
Peak Hour Background Project PM Background Project PM
LOS PM Peak Peak Hour PM Peak Peak Hour
Hour LOS LOS Hour LOS LOS
1-280 SB off-
ramp/Serramonte B B B B B
Blvd
1-280 NB off-
ramp/Serramonte A A A A A
Blvd
Junipero Serra
Blvd./Serramonte C C C C C
Blvd.
El Camino Real
Blvd./Serramonte D D D C D
Blvd
In conclusion, the project would have no significant impact to these four
intersections in the City of Daly City. Since other AM and Saturday analyses
also showed no significant impacts to any study intersections, it is expected
that the same results would occur at these intersections (see response to
Comment 3.4.1 confirming this expectation with regard to Junipero Serra
Boulevard/Serramonte Boulevard during weekend PM peak hours). Further,
since no significant impacts would occur at these intersections, it is reasonable
to conclude that other intersections in the City of Daly City farther away from
the project would not experience significant impacts from project traffic.
• Comment 3.4.12: Daly City believes the proposed development is
incompatible with regional transportation improvements near the project
site. Residential land uses would be better served for the project site than the
proposed project, given the presence of a nearby BART station and local bus
service. There is no discussion of compatibility with the 1995 CMP.
Costco Wholesale Project Final EIR Page 15
City of South San Francisco August 1999
Response: The proposed project has been designed to be consistent with the
South San Francisco General Plan. Please refer to the comment and response
from C/CAG (Comment 3.1.1) regarding consistency with the County CMP.
• Comment 3.4.13: The FEIR must address land use compatibility of the
proposed project given the public transit efficiency within the area. Daly City
requests a written response from South San Francisco that the County of San
Mateo has reviewed and accepted the FEIR in reference to CMP compliance.
Response: The previous use of the site was as a warehouse facility for a major
retail operation, including warehouse-direct sales to customers. The proposed
use of the site represents a continuation of the previous type of use of the
property. The DEIR addresses all impacts associated with the project,
including traffic, air quality and aesthetics. A subsequent acoustic analysis has
been prepared based on the request of Daly City and confirms that no
significant acoustic impact would result should the project be constructed. See
Acoustic Appendix. The DEIR was circulated to C/CAG as the Congestion
Management Agency for the County of San Mateo, in accordance with CEQA
requirements. Please refer to Comment 3.1 for comments from C/CAG
regarding consistency with the County CMP.
• Comment 3.4.14: Noise impacts of the proposed project have not been
addressed. Two schools and residential uses exist in the area which could be
impacted by project related noise.
Response: Comment acknowledged. Noise impacts were not addressed in the
DEIR because of the lack of such impacts by the comparable prior use of the
property. In response to the specific request from Daly City, however, an
acoustic study has been prepared for the project by the firm of Giroux and
Associates and confirms the lack of impact. The full text of the acoustic report
is included in the Appendix.
Comment 4.1: Henn & Etzel
• Comment 4.1.1: The DEIR is inadequate because the South San Francisco
General Plan is missing two of the seven mandatory elements, Safety and
Conservation, and these elements have an essential nexus to the analysis of
project impacts.
Response: The South San Francisco General Plan does adequately address
safety and conservation issues. There is no requirement that a general plan
consist of seven separate elements. The analysis contained in the existing
general plan addresses the required elements and any challenge based on
Costco Wholesale Project Final EIR Page 16
City of South San Francisco August 1999
alleged inadequacies is time-barred. A challenge to the proposed project based
on an argument of invalidity of the City's General Plan is untimely, since
State law establishes that one cannot make an untimely collateral attack on a
City's General Plan as the basis for challenging a specific project approval.
(See, e.g., A Local and Regional Monitor v. Citt~o Los Angeles ("ALARM")
(1993) 16 Cal. App. 4th 630, 20 Cal. Rptr. 2d 228)
With regard to the issues necessary for an adequate safety element, the
existing General Plan does address the presence of the San Andreas Fault
through the westerly portion of the City and identifies a policy requiring
further analysis of potential development on unstable slopes (General Plan
Land Use ,Circulation and Transportation Element, p. 3-2., Policy 4.) The
project site for the proposed development, however, is generally level and is
thus not subject to the requirement for further study based on the General
Plan policy. Nonetheless, given the soil compaction as analyzed in the EIR
and Kleinfelder report, which was part of the EIR, specific mitigation
measures were included to address potential impacts from seismic activity.
See Impact 4-3.1.
Similarly, issues required in a Conservation Element, including water supply,
are also included in the General Plan. The General Plan specifically concludes
that "the supply and storage capacity of the water purveyors in South San
Francisco is adequate to meet present needs and intensity of growth projected
in the General Plan (General Plan Land Use, Circulation and Transportation
Elements, p. 3-30). The General Plan also contains discussion of the
preservation and management of natural resources including Colma Creek
(Id. at 3-24) and flood control protection as related to Colma Creek (Id. at 5-82,
Policy A11-2).
Comment 4.1.2: The defects in the City's planning and regulatory framework
have even graver consequences for the City's ability to approve any land
development permit.
Response: The City's General Plan is adequate. See response to Comment
4.1.1.
• Comment 4.1.3: For the project to be approved, the City must amend the
General Plan Land Use Element for Planning Area 11, its Redevelopment
Plan for the El Camino Corridor and the Zoning District. The DEIR fails to
disclose this information.
Response: The provisions of General Plan Planning Area No. 11, Section B
only becomes operative upon the City receiving an irrevocable agreement
with BART/SamTrans to construct the subway configuration and when there
Costco Wholesale Project Final EIR Page 17
City of South San Francisco August 1999
is a guaranteed funding commitment. Although the BART/SamTrans has
commenced construction of a facility involving a subway configuration, to
date there is not a guaranteed funding commitment for the full amount of
the funds including the subway configuration for the full amount of funds,
including the subway configuration and the BART South San Francisco
station. The primary uncertainty underlying the full funding is the
discretionary element of the federal funding component. Specifically, the
annual funding of BART is subject to the discretionary approval of the
United States Congress. Thus, the BART/SamTrans are subject to receiving
lesser amounts of funds on an annual; basis from Congress than are necessary
to complete the project. For example, in fiscal year 1998, BART requested 56
million dollars from Congress but only received 29.5 million dollars. In fiscal
year 1999, BART requested 74 million dollars from the U.S. Congress, but
received only 40 million dollars. BART has been forced to borrow funds to
continue with the construction of the project, thereby increasing the overall
cost of the project. As costs increase, there is not a guaranty that full funding
will be provided for the project from identified sources. The absence of actual
full funding prevents the provisions of Section 11-B from becoming
operative by their own terms.
• Comment 4.1.4: The DEIR appears to have been prepared in an extremely
compressed time frame, which did not allow for adequate scoping of impacts.
Response: All CEQA-mandated time frames, including a minimum thirty
(30) days for the Notice of Preparation and forty five (45) days for public
review, have been met.
• Comment 4.1.5: The project description is internally inconsistent, does not
include all relevant aspects of the project, including reasonable foreseeable
future activities, minimizes project impacts and does not list all approvals
required for the project.
Response: The description of the Costco Wholesale Parcel portion of the
project has been refined, as noted in the Addendum section, resulting in the
reduction of the retail area to be developed on the Residual Parcel from 73,000
square feet (which was to consist of three proposed pads: 60,000 square feet,
8,000 square feet and 5,000 square feet) envisioned in the project description
for the Initial Study in March, 1999, to probable future development of about
48,000 to 50,000 square feet as envisioned by the project description in the
DEIR. The holdover reference to the 60,000 square foot building at page 11 of
the DEIR was in error but in no way invalidates the DEIR analysis of the
reduced project. Instead, the reduced retail area also reduces the
environmental impact of the project.
Costco Wholesale Project Final EIR Page 18
City of South San Francisco August 1999
The plans for the Costco Wholesale Parcel have become more specific, but the
plans for the Residual Parcel have become more general as a result. Rather
than three identified pad sizes, the Residual Parcel now is planned for about
50,000 square feet of non-specific retail area. While there are no specific plans
for the Residual Parcel, it remains a part of the project because its
development with approximately 50,000 square feet of retail area remains a
reasonably foreseeable future activity.
The Batch Plant Parcel, on the other hand, will continue to be occupied by the
BART concrete batch plant until October, 2002, and there are no plans for its
development; it may be retail, commercial, residential or mixed use. It will be
separated from the balance of Costco Wholesale's property by a major public
street and will immediately adjoin the BART station so that it is not a natural
extension of the proposed retail development of the Costco Wholesale Parcel
and the Residual Parcel. Impacts of unknown possible future development of
the Batch Plant Parcel are not required to be analyzed by the DEIR precisely
because there is no probable project to analyze, CEQA Guidelines Section
15130(b)(1)(B)2. Nevertheless, traffic, which might be generated from
development of the Batch Plant Parcel, is accounted for in the cumulative
traffic under the long-term (year 2010) scenario. A 40,000 square foot
neighborhood shopping center was assumed by BATC under BART
projections, which were used for traffic projections for the proposed Costco
Wholesale project (Source: Parsons Brinckerhoff Memorandum dated April 3
and April 21, 1998 addressed to BATC).
The trip generation for the Costco Wholesale gasoline facility is based upon
documented field surveys conducted at similar Costco Wholesale sites. Two
surveys were conducted.
The first survey includes analysis of four Costco Wholesale gasoline facilities
surveyed in 1996 and 1997. Document 1 in Traffic Appendix A provides the
results of this study conducted by Entranco, Inc. According to the study,
which collected transaction data at each gasoline facility, the trip generation
for the weekday evening peak hour varied from 10.67 to 35.33 trips per
vehicle fueling position (a single vehicle obtaining gasoline would generate
two trips-one trip in and one trip out-and these rates actually represent 5.33 to
17.67 customers obtaining gasoline at each fueling position in one hour). In
the Proposed Project Traffic Impact Analysis, a gasoline facility trip generation
rate of 35.33 per vehicle fueling position was used. This is the highest trip
rate counted in previous studies, and thus represents the conservative worst
case analysis. The survey data at the four gasoline facilities indicates an
internal capture rate (gasoline facility trips that also include trips to or from
the Costco Wholesale warehouse) of between 68% and 77%, with an average
internal capture rate of 70 percent.
Costco Wholesale Project Final EIR Page 19
City of South San Francisco August 1999
The second survey conducted by DKS Associates, in June of 1998 (Document
2, Traffic Appendix A) at two gasoline facilities indicates an internal capture
rate of 56 percent to 70 percent. Based on this sample of six sites, 56 percent on
a weekday PM peak hour was too low and out of range compared to all of the
other data indicating 70 percent internal capture rate. Therefore, in the
Proposed Project traffic study, a 70 percent internal capture rate was used for
the gasoline facility trips. The recent DKS Associates study also indicated
passer-by trip percentage of 29 and 43 percent for the evening peak hour at
two Costco Wholesale sites. These gasoline facility passer-by trips are trips
neither going to Costco Wholesale nor coming from Costco Wholesale. The
gasoline facility is the sole attraction for these trips from the adjacent existing
traffic. The Proposed Project traffic impact analysis was made with a very
conservative assumption of only 10 percent passer-by trips for the gasoline
facility traffic.
In conclusion, the conservative trip generation, average internal utilization,
and very conservative passer-by trip assumptions yield a conservative (i.e.,
high) estimate of trip generation for the proposed project.
Costco Wholesale has received a BAAQMD permit for 12,630.000 gallons per
yea, not 15,000,000 gallons. Even 12,630,000 gallons includes substantial
reserve in excess of anticipated capacity. As found by the Entranco, Inc. Gas
Station Study, a typical Costco Wholesale gasoline facility averages about 1700
vehicles per day. This probably is a high average because Entranco's 1996-97
counts included Costco Wholesale sites at which non-Costco Wholesale
members were allowed to obtain gas at higher cost than Costco Wholesale
members; non-Costco Wholesale members no longer are allowed to obtain
gas at any Costco Wholesale facilities.. Costco Wholesale's experience is that
the average vehicle obtains 13 gallons of gas. This is higher than industry
average because (i) Costco Wholesale customers drive larger than average
vehicles, and (ii) since all gas must be paid by credit card, almost all Costco
Wholesale gas customers fill their tanks completely. Using these
conservatively high numbers, a Costco Wholesale gasoline facility could be
expected to pump approximately 22,000 gallons of gasoline per day, 660,000
gallons per month, and 8,000,000 gallons per year to 1700 customers per day,
51,000 customers per month, and 600,000 customers per year. The
commentator's use of the 70% internal trip rate also is in error in that he
suggests it means 70% of the 8,388 project trips per day will go to both the
gasoline and warehouse facilities. Rather it means that 70% of the 1700
customers per day going to the gasoline facility (or about 1,200 customers) also
will be going to the warehouse facility. For the reasons stated in the footnote
to the response to Comment 4.3.3, Costco Wholesale will install 16 fueling
positions in the project but does not expect the increased number of fueling
positions to increase the volume of gasoline sold. Even on a vehicle per
fueling position basis, however, 16 fueling positions would result in
Costco Wholesale Project Final EIR Page 20
City of South San Francisco August 1999
approximately 1,600 gasoline customers per day also shopping at the
warehouse.
The South San Francisco Planning Department has determined that a
warehouse sales facility, such as the proposed Costco Wholesale facility, is a
permitted use under the existing P-C-L zoning. Accordingly, the Planned
Unit Development permit is not required.
• Comment 4.1.6: The analysis section of the DEIR is inadequate. The DEIR
should have evaluated an alternative without the gasoline facility and also
analyze another alternative assuming a transit oriented design scenario.
Response: The DEIR includes a range of alternatives including No Project,
multi family residential, and retail commercial development. Analysis of a
Costco Wholesale facility without proposed gas pumps was not undertaken
because the project sponsor (Costco Wholesale) deems the gasoline facility to
be an integral part of the project and its exclusion would not achieve the
project objectives. Under CEQA, analysis of alternatives need only relate to
the project as a whole, not specific alternatives to parts of the project
Rock Mesas Propertl{ Owners Association v Board of Supervisors (2d Dist.
1977) 73 Cal.App.3d 218, 227, 139 Ca1.Rptr. 445).
The multi family residential development alternative analysis assumed an
average density of 15 units per acre for two reasons. First, this density is
comparable with the multi family project currently under construction on
the west side of El Camino Real, so that the market feasibility of such an
alternative is proven. Second, assuming a higher density multi family project
on the site, 40 units per acre, would result in an estimated 300 additional AM
peak hour trips than the proposed project and potentially significant impacts
to local road networks. Since the mandate of CEQA is to identify and analyze
alternatives that would result in reduced impacts, in comparison to the
proposed project, analysis of a higher density residential project was not
undertaken for the DEIR. To corroborate this scoping decision, estimates of
trip generation at 15 and 40 residential units per acre have been prepared and
are attached at Table 6, Traffic Appendix B.
Among the project alternatives other than the No Project alternative,
Alternative 2, the medium density multi family residential development,
would be environmentally superior to Alternative 3, the retail commercial
development. Alternative 2 may have greater noise and land use impacts
than the proposed project, however, and it does not achieve the project
objectives of maximizing tax revenues to the City and increasing
employment opportunities within the community.
Costco Wholesale Project Final EIR Page 21
City of South San Francisco August 1999
~ Comment 4.1.7: Mitigation measures proposed in the DEIR are inadequate,
specifically related to traffic fair share contributions, proposed parking impacts
in terms of the nearby BART station, and hazardous materials mitigation
measures.
Response: Mitigation measures are adequate. Refer to the responses to
Comments 3.3.2 and 4.2.9 regarding fair share contributions for traffic and
transportation mitigation measures.
In terms of parking, the proposed on-site parking is sufficient for the
proposed project. The forecasted year 2010 BART traffic accounts for the
BART trip generation associated with parking at the BART station (Source:
Parsons Brinckerhoff Memorandum dated April 3 and April 21, 1998
addressed to BATC). The near-term analysis, which is typically conducted in
the year when the proposed project is anticipated to open (1999), includes the
traffic from the approved projects list provided by the City of South San
Francisco which are planned to open before or within a year after the
proposed project opening date. The parking management plan is part of the
permit process and out of the scope of the traffic study.
In terms of hazardous material impacts (Section 4.5), the DEIR clearly points
out the potential impact of soil and groundwater contamination. A previous
site remediation program was completed. Some level of site contamination
appears to remain, consisting of two spots in the soil with Total Recoverable
Petroleum Hydrocarbons at approximately 500 parts per million and
groundwater in the area of the former. underground tank, with Total
Petroleum Hydrocarbons, Diesel of about 7,000 parts per billion and Motor Oil
of about 4,000 parts per billion. The previous building on the site has been
demolished and the environmental investigation report has been provided
to the San Mateo County Department of Health Services (DHS). Clean-up
levels for remediation of hydrocarbons are determined on a case-by-case basis,
and DHS may determine that site clearances are not available. In that event,
given that the use of the site would be retail with almost all of the site
covered with buildings or hardscape, the soils remediation alternatives range
from encapsulation by these improvements to off-hauling of soils, as
determined by the DHS in order that the contaminants will pose no threat to
human health, life or the environment in general. Hydrocarbon-
contaminated soils are accepted at most landfill operations and may be readily
disposed of. If remediation of the groundwater is required, it typically would
involve excavating the impacted area, allowing the resulting hole to fill with
groundwater and skimming and discarding the hydrocarbons until water
samples are acceptable to DHS as posing no threat to human health, life or the
environment. If DHS determines remediation is required, DHS and the City
will require Costco Wholesale to comply with the designated remediation
measures to satisfy the performance criterion that the hydrocarbons pose no
threat to human health, life or the environment.
Costco Wholesale Project Final EIR Page 22
City of South San Francisco August 1999
Comment 4.2: Smith Engineering and Management
• Comment 4.2.1: The DEIR traffic analysis is inadequate since it does not
provide an analysis of traffic in the AM peak hour.
Response: The Costco Wholesale store and other planned retail units open at
10:00 AM to the general public. The only trips associated with the Costco
Wholesale facility during the morning peak hour are the shift employee trips
(25 in/25 out) and delivery truck trips (approximately 20 trucks daily, spread
throughout the morning hours). The gasoline facility opens at 6:00 AM, and
it is available for Costco Wholesale members only. According to the data
provided by the study conducted by Entranco, Inc. (Traffic Appendix A,
Document 1), the gasoline facility generates approximately 3.46 trips per
vehicle fueling position during the AM peak hour. The recent study
conducted by DKS Associates, Inc. (Traffic Appendix A, Document 2) indicates
that almost 95 to 99 percent of the Costco Wholesale gasoline facility trips
during the AM peak hour are passer-by trips. Hence, the proposed Costco
Wholesale gasoline facility would only add two (2) new trips to the adjacent
transportation system. As mentioned in Mr. Smith's comment, the ITE trip
generation rate is not valid for a Costco Wholesale gasoline facility, because
gasoline is only available for Costco Wholesale members. Table 2 in Traffic
Appendix B provides the AM peak hour trip generation of the proposed
project.
The proposed project will add only 102 inbound and 77 outbound new trips
during the AM peak hour on the surrounding transportation network.
Hence, the AM peak hour impacts of the proposed project on the
transportation system would be far less in comparison with the evening peak
hour impacts. Therefore, the City of South San Francisco did not require A1VI
peak hour analysis.
In order to corroborate this scoping decision with data, an AM peak hour
traffic count was collected at the Hickey Boulevard/EI Camino Real
intersection. This intersection was selected for analysis of existing conditions
because project AM traffic would consist almost exclusively of employees and
delivery trucks, and most of this traffic is estimated to arrive via Hickey
Boulevard from I-280. The results show that the AM traffic is 25% less than
the PM traffic. An existing condition analysis was conducted, which indicates
that this intersection operates at level of service C with average delay of 18.1
seconds per vehicle. Adding the background and project traffic, this
intersection would still operate at level of service D or better under the near-
term and long-term scenarios for the AM condition. Therefore, the Project
has no significant impact during the AM peak hour at this location.
Costco Wholesale Project Final EIR Page 23
City of South San Francisco August 1999
• Comment 4.2.2: Traffic counts used for the DEIR traffic analysis are lower
than normal since they were taken during El Nino storm events.
Response: Traffic count data was not collected on rainy days. Please see the
attached letter from the traffic count company (Traffic Appendix A,
Document 3).
• Comment 4.2.3: Assumptions regarding internal trip making are not credible,
are inconsistent with internal tripmaking with a concurrent proposal for a
gasoline facility. Therefore, traffic impacts are understated.
Response: The internal trip reduction of 70 percent is consistent based on the
two studies conducted by two independent consulting firms. Please see the
response to Comment 4.1.5.
The DEIR traffic study uses a conservative number (worst case--highest traffic-
- scenario) for Costco Wholesale gasoline facility trip generation. In light of
the new data obtained from Costco Wholesale and changes in the size of the
buildings, Table 3A in Traffic Appendix B shows the revised project trip
generation of the Proposed Project using the fitted curve equation for the
shopping center as requested by Mr. Smith. As shown in the table, he net
This is due to the fact that the:
_ retail size has been reduced to 48,000 square feet instead of 73,000 square
feet
_ the gasoline facility trip generation is the average trip generation for
the Costco Wholesale gasoline facilities surveyed (still considerably
higher trip rate than the ITE trip generation) and includes 29 percent
passer-by trips reduction (considerably lower than the ITE trip
generation), and,
_ the trip generation rate for the Costco Wholesale warehouse facility is
based upon the average trip rate of 5.0 trips per 1000 square feet, instead
of the higher trip rate of 5.4 representing only one store.
The existing South San Francisco store (132,769 square feet) door counts
indicate a trip rate of only 4.05 trips per 1000 square feet which is significantly
(25%) lower than the average. The existing San Bruno store (106,854 square
feet) indicates a trip rate of 5.12 per 1000 square feet, which is consistent with
(within 2% o, fl the average. As indicated by the trip generation data for the
various Costco Wholesale stores and by ITE trip generation data for the
Residual Parcel shopping center, as the shopping center size increases the trip
rate per 1000 square feet decreases. The proposed project is planned for a
147,000 square feet Costco Wholesale store, which is 11 % and 37% larger than
Costco Wholesale Project Final EIR Page 24
City of South San Francisco August 1999
the existing South San Francisco and San Bruno stores, respectively.
Therefore, this proposed store would likely generate trips at the rate similar to
the South San Francisco store (i.e. 4.05 trips per 1000 square feet). The average
rate of 5.0 trips per 1000 square feet in Table 3A thus represents a conservative
estimate.
Based on the revised trip generation data and revised scope of project, the
proposed project would generate approximately 96 less trips than the trip
generation presented in the draft EIR. No additional analysis is required,
since the EIR traffic study considers a worse case situation.
As requested, Table 3B in Traffic Appendix B shows the trip generation of the
proposed project as 220,000 square feet of retail shopping center use (Costco
Wholesale plus the retail using fitted curve equation and passer-by discount)
without any multi-use discount. Even with the original 73,000 square feet of
retail space on the Residual Parcel rather than the revised 48,000 square feet,
the proposed project would generate approximately 150 less net new trips
under this analysis. This is because as the size of the shopping center
increases, trip generation per square footage of floor area decreases. Gasoline
facility trip generation uses 29 percent passer-by rate based on the recent study
by DKS Associates presented in Traffic Appendix A.
The traffic study for the Redwood City Costco Wholesale gasoline facility used
the 29% passer-by trip rate and the 56% internal trip rate for the PM peak
analysis. These rates were used at the direction of City staff (see DKS Study in
Traffic Appendix A, at pages 11 and 12), even though the 56% internal trip
rate is anomalously low (see response to Comment 4.1.5 above).
Nevertheless, the combination of these rates (85%), suggests that the
remaining 15% of the trips to the gasoline facility will constitute new trips
generated by that facility. Our study uses a more typical internal trip rate of
70% and a very conservative passer-by rate of 10%, thereby allowing for 20%
of the trips to the gasoline facility to be new trips generated by that facility; this
is even more conservative than the composite 15% directed by the City of
Redwood City.
The commentator's conclusion that half of the PM peak hour warehouse
customers will also buy gas results from the application of a verified average
internal trip generation rate (70%) against aworst-case rate per pump (35.33).
In order to sustain this rate of 35.33 trips (17.67 customers) per fueling
position for the PM peak hour, 212 customers would have to enter the
gasoline facility; insert and retrieve their Costco Wholesale cards and credit
cards; select the grade of gasoline; insert the nozzle and activate the pump;
pump an average of 13 gallons of gasoline; return the nozzle; specify whether
a receipt is desired and, if so, print and obtain the receipt; and exit the facility
to make space for the next customers; all in an average of 3 minutes and 24
seconds. This timing is so tight that it does not allow for common delays
Costco Wholesale Project Final EIR Page 25
City of South San Francisco August 1999
such as non functioning cards (e.g., de-magnetized strips), card readers or
receipt printers, or parking which blocks two fueling stations. As a result and
because it has sufficient space at the project site, Costco Wholesale has elected
to construct 16 fueling positions rather than its typical 12 positions, not with
the expectation or intention of selling more gasoline but rather to allow
longer fueling times without increasing queuing. Accordingly, the expected
PM peak trips is the average trip rate of 22.31 times 12 positions or 268 trips
(134 customers), and this would indicate that approximately 26% of the
warehouse customers also would purchase Costco Wholesale gasoline.
• Comment 4.2.4: Traffic impacts of the project are understated, since pass-by is
not counted in the analysis. The percent of traffic drawn from traffic passing
by the site may be excessive, which understates traffic impacts.
Response: The passer-by assumptions are very conservative based on passer-
by data collected at comparable Costco Wholesale sites. Further, a 40 percent
passer-by deduction for the shopping center was assumed based upon the ITE
Trip generation handbook for similar size shopping centers. The passer-by
trips are part of the level of service analysis calculation and are not dropped
from the main entrance analysis. Please see the level of service analysis at the
Costco Wholesale entrance. Further, based upon the survey conducted by
DKS associates, the gasoline facility passer-by trip discount is independent of
the internal trip reduction.
• Comment 4.2.5: Procedures used for Level of Service (LOS) calculations
disguise the effects of traffic growth and may fail to disclose significant traffic
impacts and mitigations. LOS calculations should be redone.
Response: It is comwcon practice in traffic impact studies in many
jurisdictions to use peak hour factor of 1.0 for the future long-term scenario.
This is due to the fact that in the long term scenario (ten years from now), one
cannot successfully predict the 15-minute variation in the peak hour traffic
flow on each approach, and hence the use of 1.0 as the peak hour factor.
Further, in the long term scenario, it is often assumed that due to growth in
traffic, some intersections would operate under saturated conditions and that
causes uniform flow within the peak hour, and hence the use of peak hour
factor of 1.0. The City of South San Francisco's retained the services of an
independent traffic review consultant to review the traffic impact analysis
assumptions and methodology. This consultant approved use of peak hour
factor 1.0 for the long-term.
..-.
Costco Wholesale Project Final EIR Page 26
City of South San Francisco August 1999
• N
• Comment 4.2.6: Adequacy of queuing storage provisions must be analyzed.
Response: The Costco Wholesale main entrance intersection with El Camino
Real indicates a queue requirement of approximately 400 feet storage for the
northbound through movement (the highest queuing movement) in the
year 2010 evening peak hour analysis, with the proposed project build-out.
This northbound PM peak hour movement will be attributable primarily to
vehicles leaving the South San Francisco BART Station parking structure.
The distance from the Costco Wholesale Entrance to the Hickey Boulevard
extension is adequate to accommodate this queue.
The mitigation measures and the project fair-share calculations were
identified for the intersections that were worse than the City's acceptable level
of service standard D. For peak hour factors and trip generation, please refer
to response to Comment 4.1.5.
• Comment 4.2.7: The DEIR must demonstrate that traffic signals along El
Camino Real at Hickey, at the new project driveway and at the new Hickey
Boulevard can be successfully interconnected. Different turning lane
provisions than indicated in the EIR may be required.
Response: In order to determine the impacts at the individual intersections,
traffic impact analysis requires the signals along EI Camino Real to be treated
as individual signals. The coordination of signals along El Camino Real is an
operational aspect and Caltrans prepares a timing plan based upon the actual
demand in the future. Caltrans also determines the cycle length and adjusts
the timing plans based upon field observations at the time. The proposed
project's design of a new signal at the main entrance does provide for
interconnection between signals. Signal coordination will help to improve
the traffic flow within the network and hence will help to improve the
overall level of service, which is based on delay. The study intersections are
projected to operate at level of service D or better and hence, additional
analysis is not required.
• Comment 4.2.8: The Year 2010 analysis misleads the public by disguising
actual near-term cumulative impacts of the project as distant year impacts.
Response: Please refer to response to Comment 4.1.7. Due to planned
improvements in the 2010 BART traffic scenario, the proposed project would
have fewer impacts on the surrounding transportation system. These BART-
related improvements will be completed before opening of the BART South
San Francisco Station as part of the mitigation measures under the BART San
Francisco Airport Extension EIS/EIR. Accordingly, the 2010 Background
conditions, with BART, are indicative of the conditions to be expected when
Costco Wholesale Project Final EIR Page 27
City of South San Francisco August 1999
the BART extension opens, and under
Costco Wholesale project will have few
transportation system than it does in ti
BART-related roadway improvements.
those conditions as well, the proposed
er impacts on the surrounding
ie near-term prior to completion of the
• Comment 4.2.9: Fair share contributions to fund identified mitigation
measures are inadequate unless a clear program exists to fully fund and
implement mitigation improvements. The DEIR also provides an unclear
indication of the project's fair share contribution and fails to reflect specific
input from an expert peer review commissioned by the City.
Response: The DEIR includes mitigation measures whereby the project
developer would be required to pay a "fair share" contribution to identified
traffic improvements near the project site to ensure nearby intersections
would operate at satisfactory levels of service, even with the addition of
project traffic. The project's contribution to these improvements has been
programmed into the City's Five-Year Capital Improvement Program. The
City's Capital Improvement Program (1999-2000) includes the following
projects.
• Chestnut/Grand Avenue Intersection. This project will replace the
existing signal at the intersections of Grand and Chestnut, roadways
widening in the project area and restriping for new exclusive right and left
turn lanes. The project design is substantially complete and the City is now
coordinating the relocation of utility poles with PG£~E. Construction is
planned for fall, 1999.
• Hickey/Hilton Improvement. This project will widen Hickey Boulevard
along Hilton to accommodate protected left turn movements and will
result in the construction of a new traffic signal at this intersection. The
design contract has been awarded and preliminary engineering design
completed. The project is expected to be complete in spring, 2000.
• Right-turn lanes at Chestnut/EI Camino Real: This project will create a
new right turn lane on the northeast corner of this intersection and will
modify striping on El Camino Real. The project will require acquisition of
right-of--way to construct the new right turn lane. Design and right of way
acquisition is estimated to be completed in March, 2000, and construction
of this project is anticipated in summer of 2000.
The CIP further sets aside funds for signalization of intersections citywide.
Included in this program will be a Camaritas and Hickey traffic signal,
assuming this signal is warranted after the construction of Hickey/Hilton
intersection. The Costco Wholesale project contribution for construction of
signals in Caltrans's right of way and within the Town of Colma will be
Costco Wholesale Project Final EIR Page 28
City of South San Francisco August 1999
programmed into the CIP and, upon commencement of these projects, the
fair share contribution will be paid to each respective lead agency by the City
of South San Francisco. Fair share contributions for the improvement
projects within the Town of Colma and Caltrans jurisdictions would
therefore be available upon issuance of occupancy permits for Costco
Wholesale. The need to provide additional traffic signals within the Town of
Colma to accommodate future cumulative traffic impacts should be
programmed into the Town's CIP budget.
The City of South San Francisco Public Works Department has estimated the
cost for these improvements and will collect an appropriate fair share from
Costco Wholesale. The DEIR clearly identifies the project's fair share
contribution and provides background information to compute fair share
contributions.
Another method to calculate a project's fair share contribution towards
improvement of an already substandard intersection would be to determine
the improvements needed to bring that intersection to LOS D without the
project, add the project traffic to the intersection, and, if the project traffic
reduced the LOS below level D, determine those improvements necessary to
restore the intersection to operate at LOS D. The project would then be
responsible for the full cost of implementing the mitigation measure for
additional impacts. As referenced in the above comment, an independent
consultant retained by the City of South San Francisco has suggested
consideration of this alternate analysis. The City of South San Francisco has
not undertaken this analysis, however, because it was believed that the actual
fair share calculation method used in the traffic analysis would result in a
greater contribution to alleviate area traffic congestion, For example, under
the independent consultant's suggested approach, an intersection would be
first improved to achieve LOS D. It is likely that the Costco Wholesale project
traffic would not contribute to a deterioration of traffic beyond that LOS D
significance level in many locations. As a result, no project impact or
mitigation would be identified for such intersection. On the other hand, the
actual method used for the analysis calculates a proportionate share of the
overall problem. Many more intersections are identified in this fashion, with
greater contribution by the project applicant to the overall traffic
improvement program. The fair share contribution endorsed by the City is a
well recognized approach (see Bass, CEQA Deskbook, 1999, Second Edition,
page 83) and, in summary, it is more comprehensive in its identification of
exactions.
• Comment 4.2.10: The DEIR fails to consider the possibility of mitigating the
project's traffic impact by reducing the scale of the project.
Costco Wholesale Project Final EIR Page 29
City of South San Francisco August 1999
Response: Although the No Project alternative was analyzed as required by
CEQA, a reduced project alternative was not included for the following
reasons. First, the square footage of the project was requested by the applicant
based on Costco Wholesale's business planning and operations. Reduction of
this square footage would not have presented a feasible alternative, since the
project applicant would not have implemented a reduced project. Secondly,
CEQA mandates that alternatives to the proposed project be identified to
minimize impacts associated with the proposed project. In this instance, the
DEIR found no significant traffic impacts that cannot be mitigated to a level of
less than significance. Therefore, inclusion of the reduced project size was not
needed. See also response to Comment 4.1.6.
• Comment 4.2.11: The DEIR traffic analysis is deficient in that it is incapable of
identifying significant project traffic at intersections that already exceed the
City's standard of significance (LOS D).
Response: See response to Comment 4.2.9.The City of South San Francisco
requires the project to contribute to intersections already exceeding the city's
level of service standard the project's fair share of the cost of improvements
to bring those intersections to at least LOS D. The improvements at those
intersections are part of the City of South San Francisco Capital Improvement
Program.
• Comment 4.2.12: The intersection of Junipero Serra Boulevard and
Serramonte Boulevard should be analyzed.
Response: See response to Comment 3.4.1. This intersection has been
analyzed and found to have no significant impact from the proposed project.
• Comment 4.2.13: A weekend traffic analysis should be included in the traffic
analysis.
Response: See response to Comment 3.4.5. Table 4B of the Traffic Appendix
provides the trip generation of the proposed project as 220,000 square feet of
shopping center/retail (as requested by Mr. Smith). According to Table 4B
contained in the Traffic Appendix, the proposed project would generate 464
inbound and 429 outbound net new trips after 39 percent passer-by discount.
Based upon the higher Costco Wholesale trip generation rate, the year 2000
and 2010 weekend analysis at critical intersections shows that all of them
would operate at level of service standard D or better (shown in Table 5 of the
Traffic Appendix) during the Saturday afternoon peak hour. Hence,
additional weekend analysis for other intersections is not indicated.
Costco Wholesale Project Final EIR Page 30
City of South San Francisco August 1999
• Comment 4.2.14: A Transportation System Management Plan (TSM) should
be included in the EIR.
Response: The City will require the project developer to design and
implement a TDM Plan as a condition of approval of the use permit for the
project. Refer to Comment and Response 3.1.3.
• Comment 4.2.15: Trip generation for the 73,000 square feet of additional retail
development in Scenario B is understated, causing the DEIR to understate the
project's traffic impacts.
Response: Table 3A in Traffic Appendix B shows the revised project trip
generation of the Proposed Project using the fitted curve equation for the
shopping center requested by Mr. Smith. As shown in the table, the net
project tries are less than the iron sed_project trip Qeneration under Scenario
B ~u 96 trips (including the retail component). This is due to the fact that the.
_ retail size has been reduced to 48,000 square feet instead of 73,000 square
feet
_ the gasoline facility trip generation is the average trip generation for
the Costco Wholesale gasoline facilities surveyed (still considerably
higher trip rate than the ITE trip generation) and includes 29 percent
passer-by trips reduction (considerably lower than the ITE trip
generation), and,
_ the trip generation rate for the Costco Wholesale warehouse facility is
based upon the average trip rate of 5.0 trips per 1000 square feet, instead
of the higher trip rate of 5.4 representing only one store.
As requested, Table 3B in Traffic Appendix B shows the trip generation of the
proposed project as 220,000 square feet of retail shopping center use (Costco
Wholesale plus the retail using fitted curve equation and passer-by discount)
without any multi-use discount. Even with the original 73,000 square feet of
retail space on the Residual Parcel rather than the revised 48,000 square feet,
the proposed project would generate approximately 150 less net new trips
under this analysis. This is because as the size of the shopping center
increases, trip generation per square footage of floor area decreases. Gasoline
facility trip generation uses 29 percent passer-by rate based on the recent study
by DKS Associates presented in Traffic Appendix A.
• Comment 4.2.16: The DEIR does not address project traffic effects on public
access to emergency services, especially nearby Kaiser Hospital.
Page 31
Costco Wholesale Project Final EIR August 1999
City of South San Francisco
Response: The traffic analysis indicates that the addition of project traffic to
the background condition near the Costco Wholesale entrance would not
cause traffic queues that would block access to emergency services at Kaiser
Hospital, which is more than 1,500 feet to the south of the Costco Wholesale
main entrance intersection. Projected queuing at the future El Camino
Real/BART South San Francisco Station access road intersection, which is
much closer to Kaiser Hospital, is not expected to back to the Hospital
emergency entrance (a northbound queue of approximately 250 feet is
projected). In fact, to the contrary, the future provision of this new
intersection will create a new route and a new opening in the El Camino Real
median, which should improve emergency response and access.
Comment 4.3: RGA Environmental
• Comment 4.3.1: The air quality analysis is inadequate since it does not reflect
the local impacts of increased traffic and associated contaminants. Specifically,
modeled intersections are too remote from the Costco Wholesale site and
may not reflect air quality impacts to nearby residences, schools and the Kaiser
hospital.
Response: The DEIR analysis was completed using Bay Area Air Quality
Management District's CEQA Guidelines. These guidelines provide that
localized concentrations of carbon monoxide be estimated for projects where:
• vehicle emissions of carbon monoxide exceed 550 pounds per day;
• project traffic would impact intersections or roadway links operating at
LOS D, E or F, or would cause LOS to decline to LOS D, E or F.
• project traffic would increase traffic volumes on nearby roadways by 10%
or more.
The proposed project clearly exceeds these thresholds, so a local-scale analysis
of carbon monoxide was conducted. The analysis included in the DEIR is a
worst-case analysis in that assumptions regarding location, traffic conditions
and meteorology were made in an attempt to maximize concentrations. To
this end, only signalized intersections operating at LOS D, E or F were
considered. Signalized intersections were selected because they typically have
a much higher volume of traffic than unsignalized intersections. The
selection of intersections operating at LOS D or worse reflects the large effect
that congestion, delay and idling have on concentrations of carbon monoxide.
Such an analysis is often called a "hot spot" analysis, since the area close to a
congested intersection will have a dramatically higher concentration of
carbon monoxide than other locations.
Costco Wholesale Project Final EIR rage ~1
City of South San Francisco August 1999
A worst-case carbon-monoxide analysis therefore seeks to find the highest
concentration, regardless of location. If concentrations at worst-case locations
do not exceed the applicable state/federal standards, it can be assumed that
concentrations at other locations farther from the congested intersections
would also not exceed the applicable state/federal standard.
To corroborate this assumption, concentrations of carbon monoxide at
additional locations closer to the project site have been calculated using an
identical methodology as in the DEIR. The following table shows predicted
worst-case concentrations. Concentrations under all scenarios remain below
the state/federal standard, so that this impact would be less than significant.
Intersection Existing Background Background Background
+ Scenario A + Scenario B
1-hr. 8-hr. 1-hr. 8-hr. 1-hr. 8-hr. 1-hr. 8-hr.
El Camino 9.1 5.9 9.5 6.1 11.4 7.4 11.5 7.5
Real/Hickey
E1 Camino/Kaiser 9.3 6.0 9.7 6.2 10.8 7.0 10.8 7.0
Hospital
E1 Camino 9.2 5.9 9.4 6.0 12.0 7.9 12.1 7.9
Real/Arro o Dr.
EI Camino -- -- 8.9 5.7 9.7 6.2 9.7 6.3
Real/Hickey
Ext./McLean
E1 Camino -- -- 8.7 5.5 10.0 6.5 10.2 6.6
Real/Costco
Wholesale/Mid-
Peninsula
Most Stringent Street 20.0 9.0 20.0 9.0 20.0 9.0 20.0 9.0
Standard
Source: Donald Ballanti
• Comment 4.3.2: The vehicle mix used for the air quality analysis does not
reflect the vehicle mix shown in the traffic analysis for the project.
Response: The term "2000 vehicle mix" refers to the vehicle population that
would exist in the year 2000, and not the number of vehicles generated by the
proposed project. The air quality analysis for the proposed project is based on
the trip generation and traffic assignments provided in the Rajappan £~ Meyer
traffic report for the project.
Costco Wholesale Project Final EIR Page 33
City of South San Francisco August 1999
• Comment 4.3.3: The AQIA does not address the emissions from idling
vehicles lining up at the gasoline facility.
Response: See response to Comment 4.3.1; under the "hot spot" analysis, it
can be assumed that concentrations at locations farther from the congested
intersections, including locations within the project, would not exceed the
applicable state/federal standard. Observations at the Santa Clara Costco
Wholesale indicate that the maximum queue at peak times at that location is
five cars idling per queue, with each queue accessing two fueling positions.
Since the proposed facility would have 8 queues leading to 16 fueling
positions, the probable maximum number of idling vehicles at one time
would be 40 (or 30 under the information provided in the response to
Comment 4.2.31). During an hour, 40 vehicles would idle a total of 2,400
minutes, assuming no one turned off the engine while waiting. The existing
vehicle idling time at, for example, the Westborough-Chestnut/EI Camino
Real intersection (calculated by multiplying the number of approaching
vehicles by the average delay time) is 7,438 minutes in the PM peak hour.
The Costco Wholesale gasoline facility would be located within the Costco
Wholesale parking lot and is several hundred feet distant from residences,
businesses, public sidewalks or other locations of public exposure. The
concentrations at worst-case intersections, calculated for a receptor 25 feet
from the road edge, would be far in excess of concentrations anywhere near
the Costco Wholesale gasoline facility. Since concentrations at worst-case
intersections are not predicted to exceed the state/federal standards, the same
safely can be said for concentrations in the vicinity of the Costco Wholesale
gasoline facility.
Comment 5.1: South San Francisco Planning Commission Meeting of June 3,1999
• Comment 5.1.1 (Ted Simas): Costco Wholesale's pricing tactics will be
devastating to gasoline dealers in the community. The proposed 15 million
gallons per year of gasoline to be dispensed by the proposed Costco Wholesale
' The proposed project includes 16 fueling positions instead of 12 in order to reduce the
queuing time at the gasoline facility. At the Santa Clara Costco Wholesale, for example, the
PM peak gasoline facility trip rate is 35.33 trips (17.67 customers) per fueling position per
hour, which translates to an average of one customer at each position every 3 minutes and 24
seconds, with an average of 2.5 cars in line behind that customer. This results in a wait of
8.5 minutes (2.5 times 3 minutes 24 seconds) from the time of getting into line until reaching
the fueling position. By providing 4 additional fueling positions (4/16 = a 25% increase),
the average queue length and wait time may be reduced by 25% to 1.875 cars in line for an
average of 6 minutes and 22 seconds. Accordingly, Costco Wholesale's expectations would
be 1.875 cars times 16 fueling positions = 30 idling cars per hour times 60 minutes = a total
of 1,800 minutes of idling.
Costco Wholesale Project Final EIR Page 34
City of South San Francisco August 1999
facility would be equal to five gas stations. The air quality analyses included in
the EIR were taken at five locations, none of which was near the site.
Response: Additional air quality analyses have been conducted nearer to the
project site. No new significant impacts have been identified. See the
responses to Comments 4.3.1 and 4.3.3.
Costco Wholesale has received a BAAQMD permit for 12,630,000 gallons per
year, but that number includes substantial reserve in excess of anticipated
capacity. As found by the Entranco Gas Station Study (Appendix A,
Document 1), a typical Costco Wholesale gasoline facility has twelve fueling
positions and averages about 1700 vehicles per day. This probably is a high
average because Entranco's 1996-97 counts included Costco Wholesale sites at
which non-Costco Wholesale members were allowed to obtain gas at higher
cost than Costco Wholesale members; non-Costco Wholesale members no
longer are allowed to obtain gas at any Costco Wholesale facilities. Although
the project gasoline facility will have 16 fueling positions, Costco Wholesale
does -not expect it to sell more gas than the typical gasoline facility of 12
positions for the reasons stated in the footnote to the response to Comment
4.3.3. Costco Wholesale's experience is that the average vehicle obtains 13
gallons of gas. This is higher than industry average because (i) Costco
Wholesale customers drive larger than average vehicles, and (ii) since all gas
must be paid by credit card, almost all Costco Wholesale gas customers fill
their tanks completely. Using these conservatively high numbers, a Costco
Wholesale gasoline facility could be expected to pump approximately 22,000
gallons of gasoline per day, 660,000 gallons per month, and 8,000,000 gallons
per year.
While economic considerations are beyond the purview of an EIR, the
concern regarding the impact of Costco Wholesale's "pricing tactics" to
community gasoline dealers warrants some discussion. The gasoline facility
is an integral part of the proposed project. Costco Wholesale has determined
that a gasoline facility is a feature that its members desire and increasingly
expect from afull-range Costco Wholesale warehouse. Accordingly, Costco
Wholesale's goal is to install gasoline facilities at all existing warehouses that
can accommodate them and to include gasoline facilities in all new
warehouses by opening new warehouses only in sites that do accommodate
the gasoline facilities. Costco Wholesale's pricing is not predatory or
improper in any way; it is based on the same principle that is reflected in the
pricing of all of Costco Wholesale's products and in its mission statement,
To continually provide [its] members with quality goods and services at the
lowest possible prices."
Per the ITE Trip Generation Manual, February 1995 Update, as cited in the
Entranco study, between 52% and 58% of the peak hour customers at gas
stations are passer-by travelers. However, at a Costco Wholesale gasoline
Costco Wholesale Project Final EIR Page 35
City of South San Francisco August 1999
facility at least 70% of the gasoline customers are shoppers at the warehouse.
Less than 30% of the gasoline purchasers are persons who (i) have come from
a distance solely to buy gasoline at Costco Wholesale, (ii) have diverted from
their usual course of travel to buy gasoline at Costco Wholesale, or (iii) are
passers-by. Nevertheless, if it is assumed for sake of conservative analysis
that 30% of the Costco Wholesale gasoline customers otherwise would have
patronized other South San Francisco gas stations, then those customers
would purchase about 200,000 gallons of gas a month (30% times 660,000
gallons) from Costco Wholesale instead. The likely economic impact of the
Costco Wholesale gasoline facility on South San Francisco gas stations,
therefore, would be approximately equivalent to opening one more gas
station2.
• Comment 5.1.2 (Dennis DeCota): A result of the proposed project would be
the loss of a lot of jobs in the local gasoline businesses. The proposed project
would add significant air quality emissions from tanker trucks fueling the
proposed gasoline facility that would drive up environmental costs.
Response: See response to Comment 5.1.1 regarding economic impacts on
local gas stations.
Fuel will be delivered to the Costco Wholesale gasoline facility tanks by two
to three fuel trucks (8,600 to 9,500 gallons each) per day, or about 15 trucks per
week, 780 trucks per year. The gasoline facility should receive a total of about
1,700 cars per day divided among the 16 fueling positions. This gasoline
facility traffic has been included in the total project traffic numbers for
purposes of analyzing the project impacts on air quality. Additional air
quality analyses have been conducted nearer to the project site. No new
significant impacts have been identified. See the responses to Comments 4.3.1
and 4.3.3.
• Comment 5.1.3 (Keith Simas): The traffic report falls short in trip generation
for the proposed project, specifically regarding the amount of internal trip
capture. Also, the DEIR does not include AM peak hour conditions. The
nearby trailer park would be impacted by the proposed project. The DEIR does
not include clear-cut traffic mitigations.
Z Even if the increased number of fueling positions somehow resulted in a directly proportionate
increase in sales of gasoline, the respective numbers for sixteen fueling positions would be 2,300
vehicles per day, 29,300 gallons per day, 878,000 gallons per month, 10,600,000 gallons per year,
and 260,000 gallons per month sold to members who otherwise might patronize other South San
Francisco gas stations. Again, this is only a little more than the equivalent of one new gas station.
Costco Wholesale Project Final EIR Page 36
City of South San Francisco August 1999
Response: The trip generation for the Costco Wholesale gasoline facility is
based upon documented field surveys conducted at similar Costco Wholesale
sites. Two surveys were conducted.
The first survey includes analysis of four Costco Wholesale gasoline facilities
surveyed in 1996 and 1997. Document 1 in Traffic Appendix A provides the
results of this study conducted by Entranco, Inc. According to the study,
which collected transaction data at each gasoline facility, the trip generation
for the weekday evening peak hour varied from 10.67 to 35.33 trips per
vehicle fueling position. In the Proposed Project Traffic Impact Analysis, a
gasoline facility trip generation of 35.33 trips per fueling position was used.
This is the highest trip rate counted in previous studies, and thus represents
the conservative worst case analysis. The survey data at the four gasoline
facilities indicates an internal capture rate (trips to and from Costco
Wholesale of between 68% to 77%, with an average internal capture rate of 70
percent.
The second survey conducted by DKS Associates, in June of 1998 (Document
2, Traffic Appendix A) at two gasoline facilities indicates an internal capture
rate of 56 percent to 70 percent. Based on this sample of six sites, 56 percent on
a weekday PM peak hour was too low and out of range compared to all of the
other data indicating 70 percent internal capture rate. Therefore, in the
Proposed Project traffic study, a 70 percent internal capture rate was used for
the gasoline facility trips.
The recent DKS Associates study also indicated passer-by trip percentage of 29
and 43 percent for the evening peak hour at two Costco Wholesale sites.
These gasoline facility passer-by trips are trips neither going to Costco
Wholesale nor coming from Costco Wholesale. The gasoline facility is the
sole attraction for these trips from the adjacent existing traffic. The Proposed
Project traffic impact analysis was made with a very conservative assumption
of 10 percent passer-by trips for the gasoline facility traffic.
In conclusion, the conservative trip generation, average internal utilization,
and very conservative passer-by trip assumptions yield a conservative
estimate of trip generation for the proposed project.
The proposed project will add 102 inbound and 77 outbound new trips during
the AM peak hour on the surrounding transportation network. Hence, the
AM peak hour impacts of the proposed project on the transportation system
would be less in comparison with the evening peak hour impacts. Therefore,
the City of South San Francisco did not require AM peak hour analysis.
The Redwood City Costco Wholesale report for the addition of a gasoline
facility to the Costco Wholesale warehouse in that city shows less trips in the
morning peak hour than in the evening peak hour.
Costco Wholesale Project Final EIR Page 37
City of South San Francisco August 1999
The trailer park existing traffic would experience more delay than the existing
condition due to addition of background and project traffic. However, even
with the addition of project traffic, the intersection level of service is forecast
to remain at LOS C at Hickey Boulevard/El Camino Real, which is an
acceptable level of service. The City of South San Francisco's intersection
level of service standard is D.
The Traffic Impact Analysis Report has been prepared in accordance with City
of South San Francisco guidelines. It was reviewed by an independent traffic
consultant under separate contract to the City, prior to finalization. The
report presents the fair share contributions at the poorly operating
intersections under the background conditions. Further, the report also
identifies the improvements necessary at those intersections in order to
maintain a level of service D or better.
• Comment 5.1.4: Compare the parking at the Redwood City Costco Wholesale
and Airport Boulevard Costco Wholesale.
Response: Redwood City Costco Wholesale provides for 598 parking spaces
(Costco Wholesale 112,831 square feet, 3248 square feet of office). The city
requirement is one parking space per 200 square feet of retail land use.
The San Bruno Costco Wholesale store (106,854 square feet) has 880 parking
spaces within a strip mall setting and shares the parking with other adjacent
land uses. According to Costco Wholesale, the South San Francisco Airport
Boulevard Costco Wholesale (132,769 square feet) has 900 parking spaces.
The proposed Costco Wholesale project would provide 850 stalls for Costco
Wholesale. According to the City standard of one space per 200 square feet of
retail, only 735 parking spaces (with Costco Wholesale at 147,000 square feet)
are required and the proposed project would provide more than the city's
requirement. At least an additional 240 parking stalls would be created to
support the 48,000 square feet of retail space on the Residual Parcel when it is
developed.
• Comment 5.1.5: Address issues regarding traffic, land use compatibility and
storm drainage as requested by Daly City.
Response: Comments from Daly City have been responded to as part of
Comment 3.4.
Costco Wholesale Project Final EIR Page 38
City of South San Francisco August 1999
• Comment 5.1.6: Look at the proposed and existing parking
Response: According to Costco Wholesale representatives, relocation of the
existing San Bruno facility is being considered because the site is inadequate to
accommodate parking and the expansion of the existing 106,854 square foot
warehouse facility to 147,000 square feet plus a gasoline facility. The San
Bruno facility effectively includes up to 600 parking spaces after deduction for
spaces shared with surrounding retailers, whereas the proposed South San
Francisco facility includes 850 spaces. The amount of proposed on-site parking
exceeds City zoning requirements.
• Comment 5.1.7: Look at Costco Wholesale facility with a gasoline facility and
one without.
Response: The responses to Comments 4.1.6 and 4.2.3 discuss the impact of
the gasoline facility component of the proposed Costco Wholesale. Its
highest-use period (PM peak) conditions are stated separately from the trip
generation numbers of the Costco Wholesale warehouse and the Residual
Parcel retail area in Tables 5 and 6 of the Traffic Impact Analysis for the DEIR
and in Tables 2, 3A and 4A of Appendix A hereto.
• Comment 5.1.8: Conduct additional air quality analyses, especially in relation
to El Camino High School.
Response: Additional air quality analyses has been prepared for the project.
See responses to Comments 4.3.1 and 4.3.3.
• Comment 5.1.9: More discussion of mitigation measures.
Response: Additional discussion of mitigation measures has been included as
part of this Final EIR, primarily with regard to traffic and circulation
mitigation measures.
• Comment 5.1.10: Analyze the impacts of proposed BART overflow parking.
Response: According to the BART EIR, sufficient parking is being provided at
the BART station based upon traffic studies and CEQA requirements. Thus,
spillover parking is not expected. However, BART has indicated it will
design a monitoring program for spillover parking. Please refer to the
response to section 23.1 in BART-San Francisco Airport Extension FEIR/FEIS
Volume 1- Transportation (June 1996) for further details.
Costco Wholesale Project Final EIR Page 39
City of South San Francisco August 1999
Appendices
-Traffic Appendix
-Acoustic Report
-Building Elevations and Cross-Section Drawings
Costco Wholesale Project Final EIR Page 41
City of South San Francisco August 1999
APPENDIX A
Document 1 (Entranco Gas Station Study, Source: Costco Wholesale)
Document 2 (DKS Study, Source: Costco Wholesale)
Document 3 (Traffic Count Company letter)
APPENDIX A
Document 1
(Entranco Gas Station Study, Source: Costco Wholesale)
Entranco performeo tum movement counts at the intersec:ions of South 180th
StreetJSperry Orive. Andover Park EastlSaxon Drive, and South 180th Street/Andover
Park East during the weekday a.m. and p.m. peak hours, and the Saturday peak hour.
These counts were performed on June 19 and 21, 1997. However, the counts at these
intersections reflect inter-development traffic movement on Christensen Road between
Cosip and Home Depot. Entranco also performed weekday p.m. peak-hour and
Saturday peak hour counts in July 1995 with the development of the Cosica Optical Lab.
The Juiy 1996 taunts were performed prior to the opening of Christensen Road to Home
Depot and Cosica; therefore, these taunts were used for analysis purposes.
Fgure 3 shows the existing weekday a.m. and p.m. peak hour and Saturday peak hour
traffic volumes on primary access routes in the study area based on Eniranca's taunts
and data from the cities.
TRAFFIC VOLUME FORECASTS
Trip Generation
The City of Tukwila requested trip generation estimates for the weekday daily, a.m. peak
hour, and p.m. peak hour; and Saturday daily and peak hour. Trip generation rates also
have been provided for the weekday noon peak hour for comparison.
Typically, trip generation rates used to estimate the number of new trips from a gas
station are obtained from the Institute of Transportation Engineer's (ITE) Trip Generai7cn
Manual, Februar}~ 1995 Update to the Fifth Edition. However, due to the unique
characteristics of a Cosica gas station, the trip generation for the proposed site was
based an trip generation rates derived from data ai four existing Cosica gas stations
located around the country.
The following data were toll led at the four existing Cosica gas stations between
November 1996 an ebrua 1997:
• number of gas station transacKions during the p.m. peak hour
• total daily gas station transactions on a weekday and weekend day
• survey data documenting the number of gas station transactions that also included
a visit to the Cosica Wholesale Store (internal trips)
In addition, noon peak hour cos station
cos stationslo~l0. 1997~Transac~tion data used to develop trip generation data will
be provided to the City separately from this report.
97~pl1(t t nrNOln 7ll7~a
All four existing gas sation sites have 12 pump locations, althouoh some of the sites
allowed non-Costca members to ootain gas at the pumps at a highe- cost than Casico
members, white transaction data were collected. The effect this wilt have on using this
data to estimate trips at the Tukwila site is that a more conservative trip generation rate
wi11 be used. Oata for the four existing Costco gas stations and an average of the four
sites are shown in table 2.
Weekday pm. peak hour trip rates range between 10.67 and 35.33 trips per pump, with
an average of 22.31 trios per pumo. When the p.m. peak hour trip generation rate is
compared to the ITE Trip Generation Manual rate (15.76 trips per pump), it is shown that
the Costco rate is higher (and therefore more conservative) than the 1TC rate.
Although transaction taunts were not obtained for the weekend peak hour, it was'
estimated by multiplying the weekend daily tcial by the ratio of the weekday p.m. peak
hour total to the weekday daily total for each site. The average weekend peak hour trip
rate. therefore, was estimated as slightly higher than the weekday p.m. peak hour trip rate
ai 24.57 trips per pump. The ave2ge weekday and weekend daily rates of the four
existing gas station sites were estimated at 138.54 and 1;3.11 trips per pump,
respectively.
Table 2
Typical Costco Gas Station Trip Generation Study History
Costco Gas Station Location
Oxnard. CA Albuquerque. NM Santa Clara. CA 7ueson, AZ Average
Number of Pump. 12 12 12 12 12
Tripst
Noon Peak Hour 244 234 292 280 263
P.M.Peak Hour 128 364 424 15b 258
Weekday Oaiiy 734 2.124. 2,478 1.314 1.663
Weekend Oal1y 750 2.140 ~~ Na 1,717
Rate2
Noort Peak Hour 20.33 1950 24.33 23.33 21.88
P.M. Peak Hour 10.67 30.33 35.33 12.92 2231
Vyeekday Oa;ly 61.17 177.00 206.50 109.50 13854
Weekend Pk How 10.90 3056 32.25 Na 24.57
Weekend 0~ 6250 178.33 188.50 , Na 143.11
Pertxnt Ittterrtal Trips3 T7x 73x 70Y. 68y. 72:'.
t. Trips are assocatad with gas ration only. and do not irtc:trde trips to wholesale store only.
2 Rates tiro given as trips per gas pump-
3. Irrtarrtal trips are traps in wniCt the patron went to both the gas station and the wholesale store.
l70p~1rt t1~r0lIt7971:stt
7
-._
~ T'ne noon peak hcur trip generation rates fcr tt~e four existing sites ranged between 19.50
and 24.33 trips per pump, with an overate trip rate of 2t.88 trips per pump. The average
~ ' ncon peak hour trip rate is slightly tower the overate p.m. peak hour trip rate.
The City also requested a trip generation analysis for the a.m, peek hcur. 6s~usa
Cestca Whciesale stores are not open during the typi~;al a.n. peak period, and bec2use
most of the trips generated by the gas station are considered internal trips (therefore the
gas station is exper~ed to generate fewer trips during the a.rn. peak hour than at any
other time during the day), Ccstco has nct conducted trip generticn studies for the gas
s:ati4n daring the a.m. peak hour at the four sites listed in table 2. HowEver, Calico has
caltccted trip generation taunts st one exis~nQ aas•station for the oeri.d fmm E:30 to
]0:3o a.m., wttic.~t is wftett tlta yes statiari w2s ocen, but the Whclesale store was not
open. Tne study did not break down the r';.ta by the hcur or the peak hour: howevEr, me•
study canduded that 5 percent of the Gaily trice at the cos station occsrred during this
four-hour mcming aericd.
~ To estimate a trip gcrcrtion rate fcr tt;e g=: station curing the a.m. peek hour, it was
conservativery assumed that half of the trips ~t~,arved Curing the a.m. four-Hour study
period cc: arced during the a.rn. peek hcur. 4-hr. close the weekday a.m. peak hour trip
~ generation rate watt PSttmatet~ to be 2.5 percent of the average weekday Bail lets to
rate, cr ,.. trips Fcr pum
.1 Based cn survey data provided by Costro 1Nhotesale Stores at the four existing gas
station sites. it w38 fcund tt;at an average, %2 cercnni of the pauens using me gas s:arinn
are also going to the wholesale ~ ore, which is as an internal trip. Thcse arc
i vehir-fe tips that are, one wilt be, cn the rcad network, whether or not the Costcn gas
station is constructed. Therefore inferno! trips arc not con: idered new trips.
The avenge trip generaticn rates anrt inteln3l trip percentage were use~.1 to estimate the
number of net new trips asscc'ated with the proposed Cestca gas station to be located in
Tukwila. The trtp generation for the Tukwila Calico gas station is documented in table 3.
i
The total trips gcne.-aced by a project can same~mes be raducad by a pass-by trip fatter.
Pass-by trips are deftned as trips made as intermediate stcpa on the v;ay from an crigin
to a primary trip destination. Based on me ITE Trip Generation Manual Febniary 1995
Update, the percentage of gra,s projctt generated trips classified as pars-by trips during
the weekday p.m. peak hour far a gas station is SZ percent, and 58 percent durinq the
weekday a.m. peak hcur (see ta61e 3).
Accounting for ~ntamat and pass-by trip,, mP net new trips gerteratecl e,y uie Tukwila
Cestca gas station in the weekday noon and p.m. peak hour is 36 trips, while the
waekenc! peak hour will experience 40 net haw lri~s.
Table 3
Trip Generation Summary
Number of Trip Generation Trips Trips Total
Pumps laatel ~ In Oui Trips
Weekday A.M. Peak Hour t2 3.46 21 21 42
Less Pass-by Trips (58 ;}2 12 12 2a
Net New Trips 9 9 18 ~
Weekday Noon Peak Hour 1 Z 21.88 131 132
Less Intemal Trips (72°b) 9a 95
Less Pass-try Trips (52°0 ~ 19 19
Nei New Trips 18 18
Weekday P.M. Peak Hour 12 22.31 134
Less Intemal Trips (72 a) 97
Less Pass-by Trips (5Z o)Z 19
Net New Trips '- 18
Weekday Oal}r Tota! 12 138.54 831
Less Intemal Trips (72 ;) 598
Less Pass-by Trips (52 ;)3 121
Net New Trips 112
Weekend Peak Hour 12 24.5 148
Less Intemal Trips (77'0) 106
Less Pass-by Trips (52'x}3 21
Nei New Trips 20
Weekend Oaily Total 12 143.11 858
Less Intemal Tnps (72 a) 678
Less Pass-by Trips (52 oj3 125
Net New Trips 115
134
96
20
18
831
598
121
112
147
106
21
20
859
618
125
116
253
189
38
'36.
zaa
193
39
36
1,652
1,196
242
224
295
212
43
40
1,717
1,235
ZcO
231
1.The trip gerteration rates are given as trips per gas pump.
Pass-by trip reduGion perexnbges were obtained tram the fTE Tnq~ Gerreratiion Mantra/. February 1995
Update :a the Frith Edllion.
Pass-by trip reduGion percantages for ttus time period are not provided in the ITE Tnp Ganeradon Marrua4
'~ Febntary 1995 Update to the Fifth Edition. therefore. the p.m. peak hour pays-by trip redoetion percentage
was asstuned.
New Project Trip Distribution
The trip distribution and assignment for the proposed developments trip generation was
based on the existing travel patterns (figure 3), actress to the major arterials, and access
to I-5 and 1-405. Fgure 4 depicts the weekday a.m. and p.m. peak hour and weekend
peak hour trip assignment of the net new project-generated volumes on the surrounding
street network
:~ar~ ~rro'nsisr~. 9
APPENDIX A
Documeat 2
(DKS Study, Source: Costco Wholesale)
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Table 4
Trip Generation Summary
Number of VFPs'
Trip Rate per VFP °
Total Trips Generated ~
Intemal Capture Reduction Factor AM Peak Hour
12
12.3
148
0 PM Peak Hour
12
14.6
175.
50% Avera a Dail
12
168.6
2,023
c
Pass-by Trips
Net New Trios Generated 95%
a 29%
~.~_
c
~ 2,023`
Notes:
a. Vehicle Fueling Position
b. Trip Rate based on IT>= Trip Generation. 6th Edition, 1997.
c. As with A.M. and P.M. peak hour traffic, pass-by and intemal capture trips would account for a portion of
the total daily number of vehicle patronizing the proposed gasoline station addition. However, as data
concerning daily pass-by and intemal gptun3 trips wen: not available, these trips are not presented in
this table for average daily traffic.
Source: DKS Associates
A significant portion of trips generated by the proposed gasoline station are "internally
captured" trips. Internally captured trips are trips that are "captured" while traveling to or
from some other on-site destination. l:n this case, a large amount of trips are expected to travel
between the existing Costco facility, fast food restaurant, and hardware store facilities and the
proposed gasoline station. This is particularly true for the proposed Costco gas stations,
because patrons would have to have a Costco membership card to use the facility. Internally
captured trips are not considered generated traffic because the vehicles that make use of the
existing facilities and the gasoline station would enter and/or exit the site, regardless of the
presence of the gasoline station.
DKS recently commissioned surveys at existing Costco gasoline stations in Santa Clara and
South Sacramento, California to better gauge typical trip generation properties for gasoline
station additions at Costco facilities. The individual customer interview surveys were
conducted on Saturday June 6. Tuesday June 16 and Wednesday June 17, 1998. A summary
of the survey results is contained in the Appendix B. The surveys indicated an intemal
capture rate of between 53 to 72 percent on weekends ~ During the wee y pe enod,
internal capture rates ranged from 56 to 70 percent. - At the direction of City of Redwood City
staff, the most conservative analysis was performed, assuming a 56 percent reduction of total
generated trips to reflect the internall ca lured trips. 's reduction was used for. the PM
peak hour only, as Costco is not open during the peak hour and, therefore, no trips would
be going fo both the Costco and the Costco gasoline station. The hardware store and the fast
food restaurant are currently open during the AM peak period and would lead to some internal
Redwood City Costco Gasoline S1aUon Addition 11 Marsh 25, 1999
DKS Associates .
capture trips for the proposed gas station; however, for a conservative analysis, these internal
capture trips were not included in this analysis.
A percentage of trips to/from the project consist of what is referred to as "pass-by" trips,
which are those vehicle trips that are already on the existing street system and simply turn into
the site from the adjacent roadway network without altering their normal route. Gasoline
stations, in particular, generate a large percentage of pass-by trips. Pass-by trips, by
definition, are not new to the system and, normally, the number of trips generated by a project
are reduced by some percentage to reflect the pass-by trips. The individual customer
interview surveys conducted by DKS (as described earlier and as summarized in Appendix
B), ' dicated that approximately 29 to 43 percent of total number of vehicles travelin to the
gasoline station during the PM nP~k hoLr were t~aSS- y ve e~s-Hari a peak, pass-
by trips accounted for 95 to 99 percent of gasoline station customer. As directed by City of
Redwood City staff a conservative analysis was performed, assur~ing,2~ eat and 95
percent pass-b s du ' the AM and PM a These trips were subtracted
throu a roadway network and are st in detail in the LOS calculations provided in
Appendix A.
In addition to internally captured trips and pass-by trips, there are "diverted trips" that would
frequent the proposed gasoline station. Diverted trips represent vehicles which currently
travel on roadways within the project vicinity that would reroute themselves through the
existing roadway network in order to visit the new gasoline station. The customer interview
surveys conducted by DKS (as described earlier and as s~,mm~riaed in Appendix B) indicated
that diverted trips accounted for 16 percent to less than one percent of the gasoline station
traffic. For a ~~nsta~tive analysis, no iverted tries were assumed in this analysis.
Based on the ITE trip generation rates, the proposed Costco facility would generate 148 AM
peak hour trips, 175 PM peak hour trips, and 2023 daily vehicle trips. Once internal capture
trips and pass-by trips are accounted for, the proposed project would only generate 8 net new
vehicle trips during the A.M. peak hour and 26 net new vehicle trips during the P.M. peak
hour (As with A.M. and P.M. peak hour traffic, pass-by and internal capture trips would
account for a portion of the total daily number of vehicle patronizing the proposed gasoline
station addition. As data concerning daily pass-by and internal capture trips were not
available, daily pass-by and internal trips are not presented in this report.).
Project Trip Distribution and Assignment
Trip distribution is a process where trips are linked to an origin and destination to predict the
flow between origin and destination. The distribution of trips generated by the proposed
project were determined based on existing travel patterns, the relative attractiveness of the
site, and the distance people are required to travel to that site. Trip distribution percentages
assumed for this project are illustrated in Figure 4 and are listed in Table 5.
Redrwod City Costco Gasoline Station Addition 12 March 25, 1999
APPENDIX A
Document 3
(Traffic Count Company letter)
' 06/29/1999 05:27 5103576882
~~ ~
~~
PACE 01
TRAFFIC REpEAACH AaSOC1ATEta
Troffic Octo You Con Count On
TAO: Situ Dalai, Res}appan ~ Meyer
FROM: Richard Dinwiddie
DATE: June 28, 1999
RE: 1998 Counts in South San Francisco
With regard to your questions of 6/25/99:
TRA makes it a policy to NOT perform any ttaffi~c counts on days in which it is raining
(antes specifcally requested regardless of weather by the client) or when weather
conditions do not allow for normal traffic flow. In the fast months of 1998, this meant that
these were frequent cancellations of scheduled counts because of the El Nino effect. In fact,
there were a couple of circumstancGS in which we tcttainattd a count after it had begun
because it began to rain. Conscquendy, there were occasional long stretches in which is
was not possible to conduct counts, sometimes as long as one or two weeks.
The count dates are listed on the count sheets. Spec weather condition notes for each
count were not kept as we do not do counts in bad weather.
P.O. Box 4205 San La~ndro, CA 94579-0205
Pha~elFex: 510.357.6882
APPE~'DIX B
TABLE 1 Trip Generation of Alternative Land Use
TABLE 2 A11~1 Peak Hour Project Trip Generation
TABLE 3A Revised Weekday PM Peak Hour Trip Generation
TABLE 3B Revised Weekday PNI Peak Honr Trip Generation
TABLE 4A Weekend Peak Honr Project Trip Generation
TABLE 4B Weekend Peak Hour Project Trip Generation
TABLE 5 Level of Service Results for Additional analysis
TABLE 6 Background Trip Generation
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MITIG8 - Existing PM Wed Aug 4, 1999 04:32:55------------------Page-1_1
-----------------------------
Costco South San Francisco Traffic Impact Analysis
Level Of Service Computation Report
1994 HCM Operations Method (Base Volume Alternative}
Intersection #537 I-280 SB off-ramp/Serramonte Blvd.
++++++++++*+++++++++++++++++++++++++++++++++++++++++++++++++++++++++++0*560+++++
Cycle (sec)• 100 Critical Vol./Cap. (X):
Loss Time (sec): 9 (Y+R = 9 sec) Average Delay (sec/veh): 11.$
Optimal Cycle: 38 Level Of Service:
Approach: North Bound South Bound East Bound WestTBoundR
Movement : L - T - R L - T - R L - T - R L I
-------II---------------II---------------II---------------
--I--------
Control: Split Phase SpliQvlhase Protected Protected
Include Include Include
Rights: 0 16 0
Min. Green: 0 0 0 10 0 10 0 10 0
Lanes: 0 0 0 0 0 2 0 0 0 2 0 0 2 0 0 0 0 2 0 -0- I
-----I---------------Il---------------II---------------II------------
Volume Module: » Count Date: 3 Aug 1999 «
Base Vol• 0 0 0 595 0 580 0 1149 0 0 630 0
Growth Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Initial Bse: 0 0 0 595 0 580 0 1149 0 0 630 0
User Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.OD 1.00 1.00
PHF Adj: 1.00 1.00 1.00 0.92 0.92 0.92 0.89 0.89 0.89 0.87 0.87 0.87
PHF Volume• 0 0 0 647 0 630 0 1291 0 0 720 0
Reduct Vol: 0 0 0 0 0 0 0 0 0
Reduced Vol: 0 0 0 647 0 630 0 1291 0 0 724 0
PCE Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
MLF Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Final Vol.: 0 0 0 647 0 630 0 1291-----0 0 724 01
II---------------II--------- II---------------
------------i---------------
Saturation Flow Module:
Sat/Lane: 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900
Adjustment: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Lanes: 0.00 0.00 0.00 2.00 0.00 Z.00 0.00 2.00 0.00 0.00 Z.00 0.00
Final Sat.: 0 0 0 3800 0 3800 0 3800 0 0 3800 01
II---------------II---------------II---------------
------------I---------------
Capacity Analysis Module:
Vol/Sat: 0.00 0.00 0.00 0*** 0.00 0.17 0.00 0*34 0.00 0+00 0.19 0.00
Crit Moves:
Green Time: 0.0 0.0 0.0 30.4 0.0 30.9 0.0 60.6 0.0 0.0 60.6 0.0
Volume/Cap: 0.00 0.00 0.00 0.56 0.00 0.55 0.00 0.56 0.00 0.00 0.31 0.001
II---------------il---------------il---------------
------------I---------------
Level Of Service Module:
Delay/Veh: 0.0 0.0 0.0 19.3 0.0 19.2 0.0 7.8 0.0 0.0 6.2 0.0
User DelAdj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Adj Del/Veh: 0.0 0.0 0.0 19.3 0.0 19.2 0.0 7.8 0.0 0.00 610 0 0
Queue: 0 0 0 15 D 15 0 22 0
Traffix 7.0.0923 (c) 1997 Dowling Assoc. Licensed to RAJAPPAN & MEYER, SJ
`~K 2ooa
MITIGB - Background PM Wed Auq 4, 1999 13:03:38 Page 1-1
--------------------------------------------------------------------------------
Costco South San Francisco Traffic Impact Analysis
--------------------------------------------------------------------------------
Level Of Service Computation Report
1994 HCM Operations Method (Base Volume Alternative)
+*++*+**,r*****+~**********+*****+*,.*****+**+*,r*,r****,r****+*********~*~**,+*******
Intersection #537 I-280 SB off-ramp/Serramonte Blvd.
Cycle (sec): 100 Critical Vol./Cap. (X): 0.573
Loss Time (sec): 9 (Y+R = 4 sec) Average Delay (sec/veh): 12.1
Optimal Cycle: 39 Level Of Service: B
Approach: North Bound South Bound East Bound West Bound
Movement : L - T - R L - T - R L - T - R L - T - R
------------1---------------I1---------------II---------------II---------------I
Control: Split Phase Split Phase Protected Protected
Riqhts: Include Ovl Include Include
Min. Green: 0 0 0 10 0 10 0 10 0 0 10 0
Lanes: 0 0 0 0 0 2 0 0 0 2 0 0 2 0 0 0 0 2 0 0
------------I---------------II---------------II---------------II---------------I
Volume Module: » Count Date: 3 Aug 1999 «
Base Vol: 0 0 0 607 D 595 0 1199 0 D 630 0
Growth Adj: 1.00 1.D0 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.OD 1.00
Initial Bse: 0 0 0 607 0 595 0 1149 0 0 630 0
User Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
PHF Adj: 1.00 1.00 1.00 0.92 0.92 0.92 0.87 0.87 0.87 0.89 0.89 0.89
PHF Volume: 0 0 0 660 0 647 0 1321 0 0 708 0
Redact Vol: 0 0 0 0 0 0 0 0 0 0 0 0
Reduced Vol: 0 0 0 660 0 647 0 1321 0 0 708 0
PCE Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
MLF Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Final Vol.: 0 0 0 660 0 647 0 1321 0 0 708 0
------------I---------------II---------------II---------------II---------------I
Saturation Flow Module:
Sat/Lane: 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900
Adjustment: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Lanes: 0.00 0.00 0.00 2.00 0.00 2.00 0.00 2.00 0.00 0.00 2.00 0.00
Final Sat.: 0 0 0 3800 0 3800 0 3800 0 0 3800 0
------------i---------------II---------------II---------------II---------------I
Capacity Analysis Module:
Vol/Sat: 0.00 0.00 0.00 0.17 0.00 0.17 0.00 0.35 0.00 0.00 0.19 0.00
Crlt MOVe9: **** **** ****
Green Time: 0.0 0.0 0.0 30.3 0.0 30.3 0.0 60.7 D.0 0.0 60.7 0.0
Volume/Cap: 0.00 0.00 0.00 0.57 0.00 0.56 0.00 0.57 0.00 0.00 0.31 0.00
------------I---------------II---------------II---------------II---------------I
Level Of Service Module:
Delay/Veh: 0.0 0.0 0.0 19.5 0.0 19.4 0.0 7.9 0.0 0.0 6.2 0.0
User DelAdj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
AdjDel/Veh: 0.0 0.0 0.0 19.5 0.0 19.4 0.0 7.9 0.0 0.0 6.2 D.0
Queue: 0 0 0 16 0 15 0 ZZ 0 0 10 0
Traffix 7.0.0923 (c) 1997 Dowling Assoc. Licensed to RAJAPPAN ~ MEYER, SJ
~'1 Q 2 000
MITIG8 - B~e~d PM Wed Aug 4, 1999 13:04:15 Page 1-1
---------- ~ F~S---------------------------------------------------------------
Costco South San Francisco Traffic Impact Analysis
-------------------------------------------------------
Level Of Service Computation Report
1994 HCM Operations Method (Future Volume Alternative)
Intersection #537 I-280 SB off-ramp/Serramonte Blvd.
Cycle (sec)• 100 Critical Vol./Cap. (X): 0.580
Loss Time (sec): 9 (Y+R = 4 sec) Average Delay (sec/veh): 12.1
Optimal Cycle: 39 Level Of Service: B
Approach: North Bound South Bound East Bound West Bound
Movement : L - T - R L - T - R L - T - R L - T - R I
------------I---------------il---------------il---------------II---------------
Control: Split Phase Split Phase Protected Protected
Rights: Include Ovl Include Include
Min. Green: 0 0 0 1D 0 10 0 10 0 0 1D 0
Lanes: 0 0 0 0 0 2 0 0 D 2 0 0 2 0 0 0 0 2 0 0 1
------------I---------------II---------------II---------------il---------------
Volume Module: » Count Date: 3 Auq 1999 «
Base Vol: 0 D 0 607 0 595 0 1149 0 0 630 0
Growth Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.04 1.00 1.00 1.00 1.04 1.D0
Initial Bse: 0 0 0 6D7 0 595 0 1199 0 0 630 0
Added Vol: 0 0 0 0 0 0 0 0 0 0 0 0
PasserByVol: 0 0 0 10 0 0 0 13 0 0 13 0
Initial Fut: 0 0 0 617 D 595 0 1162 0 0 643 0
User Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
PHF Adj: 1.00 1.00 1.00 0.92 0.92 0.92 0.87 0.87 0.87 0.89 0.89 0.89
PHF Volume: D 0 0 671 0 647 0 1336 D ~ 720 0
Reduct Vol: 0 0 0 0 0 0 D 0 0
Reduced Vol: 0 0 0 671 0 647 0 1336 0 0 722 0
PCE Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
MLF Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.OD 1.00 1.00 1.00 1.00
Final Vol.: 0 0 0 671 0 647 D 1336 0 0 722 01
------------I---------------II---------------II---------------II---------------
Saturation Flow Module:
Sat/Lane: 1900 1900 1900 1900 190D 1900 1900 1900 1900 1900 1900 1900
Adjustment: 1.00 1.00 1.00 1.00 1.OD 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Lanes: 0.00 0.00 0.00 2.00 0.00 2.00 0.00 2.00 0.00 0.00 2.00 D.00
Final Sat.: 0 0 0 3800 0 3800 0 3800 0 0 3800-----01
------------I---------------II---------------II---------------II--------
Capacity Analysis Module:
Vol/Sat: 0.00 0.00 0.00 0.18 0.00 0.17 0.00 0.35 0.00 0.00 0.19 0.00
Crit Moves:
Green Time: 0.0 0.0 0.0 30.4 O.D 30.4 0.0 60.6 0.0 O.D 60.6 0.0
Volume/Cap: 0.00 0.00 0.00 0.58 O.DO 0.56 0.00 0.58 0.00 0.00 0.31 O.ODI
------------I---------------II---------------II---------------II---------------
Level Of Service Module:
Delay/Veh: 0.0 0.0 0.0 19.5 0.0 19.3 0.0 8.0 0.0 0.0 6.2 0.0
User DelAdj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
AdjDel/Veh: 0.0 0.0 0.0 19.5 0.0 19.3 0.0 8.0 0.0 0.0 6.2 0.0
Queue• 0 0 0 16 0 15 0 23 0 0 10 0
Traffix 7.0.0923 (c) 1997 Dowling Assoc. Licensed to RAJAPPAN ~ MEYER, 5J
3acl ,~,nd
MITIGB - 2010 Buil~out PM Wed Aug 4, 1999 12:56:38 Page 1-1
--------------------------------------------------------------------------------
Costco South San Francisco Traffic Impact Analysis
--------------------------------------------------------------------------------
Level Of Service Computation Report
1994 HCM Operations Method (Base Volume Alternative)
Intersection #537 I-280 SB off-ramp/Serramonte Blvd.
****++*+****f,r*******************+*************+******+****#***+*******,r********
Cycle (sec): lOD Critical Vol./Cap. {X): 0.592
Loss Time {sec): 9 (Y+R = 4 sec) Average Delay (sec/veh): 12.4
Optimal Cycle: 40 Level Of Service: B
Approach: North Bound South Bound East Bound West Bound
Movement : L - T - R L - T - R L - T - R L - T - R
------------I---------------II---------------I1---------------II---------------I
Control: Split Phase Split Phase Protected Protected
Rights: Include Ovl Include Include
Min. Green: 0 0 0 0 0 0 D 0 0 0 0 0
Lanes: 0 0 0 0 0 2 0 0 0 2 D 0 2 0 0 0 0 2 0 0
------------i---------------II---------------II---------------II---------------I
Volume Module: » Count Date: 3 Aug 1999 «
Base Vol: 0 0 0 595 0 580 0 630 0 0 1149 0
Growth Adj: 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10
Initial Bse: 0 0 0 655 0 638 0 693 0 0 1264 0
User Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
PHF At3j: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
PHF Volume: 0 0 0 655 D 638 0 693 0 0 1264 0
Reduct Vol: 0 0 0 D 0 0 0 0 0 0 0 0
Reduced Vol: 0 0 D 655 0 638 0 693 0 D 1264 0
PCE Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.OD 1.00 1.00 1.OD
MLF Adj: I.00 1.00 1.00 2.03 1.00 1.13 1.00 1.05 1.00 I.00 I.05 1.00
Final Vol.: 0 0 0 674 0 721 0 728 0 0 1327 0
------------I---------------il---------------II---------------II---------------I
Saturation Flow Module:
Sat/Lane: 1900 1900 1900 1900 1900 1900 1900 1900 190D 1900 1900 1900
Adjustment: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Lanes: 0.00 0.00 0.00 2.00 0.00 2.00 0.00 Z.00 0.00 0.00 2.00 0.00
Final Sat.: 0 0 D 3800 0 3800 0 3800 0 0 3800 0
------------1---------------II---------------II---------------il---------------I
Capacity Analysis Module:
Vol/Sat: 0.00 0.00 0.00 0.18 0.00 0.19 0.00 0.19 0.00 0.00 0.35 0.00
Crit Moves: *'`** **'`* ****
Green/Cycle: 0.00 0.00 0.40 0.32 0.00 0.32 0.00 0.59 0.00 0.00 0.59 0.00
Volume/Cap: 0.00 0.00 0.00 0.55 0.00 0.59 0.00 0.32 0.00 0.00 0.59 0.00
------------I---------------II---------------II---------------11---------------I
Level Of Service Module:
Delay/Veh: 0.0 0.0 D.0 18.6 0.0 19.0 0.0 6.8 0.0 0.0 8.7 0.0
User De1Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
AdjDel/Veh: 0.0 0.4 0.0 18.6 0.0 19.0 0.0 6.8 0.0 0.0 8.7 0.0
Queue: 0 0 0 16 0 17 0 10 0 0 23 0
***t********+++*~**~********+**+**************t+*****+******************~*+*****
Traffix 7.0.0923 (c) 1997 Dowling Assoc. Licensed to RAJAPPAN & MEYER, SJ
MITIG8 - 2010 Buildout PM Wed Aug 4, 1999 12:56:05 Page 1-1
-----------------------------------------------------------------------------
Costco South San Francisco Traffic Impact Analysis
Level Of Service Computation Report
1994 HCM Operations Method (Future Volume Alternative)
******,r*****+**+~+,r****~****+**t***,r**+*****+****«*+****~*+****~*******+***+****
Intersection #537 I-280 SB off-ramp/Serramonte Blvd.
Cycle (sec): 100 Critical Vol./Cap. (X): 0.596
Loss Time (sec): 9 (Y+R 4 sec) Average Delay (sec/veh): 12.4
Optimal Cycle: 41 Level Of Service: B
***+**+**++**~******++***+****.***+******+**+************+****+**********+***~t*
Approach: North Bound South Bound East Bound West Bound
Movement : L - T - R L - T - R L - T - R L - T R
------------I---------------1I---------------II---------------11---------------I
Control: Split Phase Split Phase Protected Protected
Rights: Include Ovl Include Include
Min. Green: 0 0 0 0 0 0 0 0 0 0 0 0
Lanes: 0 0 0 0 0 2 0 0 0 2 0 0 2 D 0 0 D 2 0 0
------------I---------------II---------------II---------------II---------------I
Volume Module: » Count Date: 3 Aug 1999 «
Base Vol: 0 0 0 595 0 580 0 630 0 0 1149 0
Growth Adj: 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10
Initial Bse: 0 0 0 655 0 638 0 693 0 0 1264 0
Added Vol: 0 0 0 0 0 0 0 0 0 0 0 D
PasserByVol: D 0 0 10 0 0 0 13 0 0 13 0
Initial Fut: 0 0 0 665 0 638 0 706 0 0 1277 0
User Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
PHF Adj: 1.00 1.OD 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
PHF Volume: 0 0 0 665 0 638 0 706 0 0 1277 0
Reduct Vol: 0 0 0 0 0 0 0 D 0 0 0 0
Reduced Vol: 0 0 0 665 0 638 0 706 D 0 1277 0
PCE Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
MLF Adj: 1.00 1.00 1.00 1.03 1.00 1.13 1.00 1.05 1.00 1.00 1.05 1.00
Final Vol.: 0 0 0 684 0 721 0 741 0 0 1341 0
--------
------------i---------------II---------------If---------------11-------
Saturation Flow Module:
Sat/Lane: 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900
Adjustment: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Lanes: O.DO 0.00 0.00 2.00 0.00 2.00 0.00 2.00 0.00 0.00 2.00 0.00
Final Sat.: 0 0 0 3800 0 3800 0 3800 0 0 3800 0
------------I---------------II---------------II---------------II---------------I
Capacity Analysis Module:
Vol/Sat: 0.00 0.00 0.00 0.18 O.OG 0.19 0.00 0.20 0.00 0.00 0.35 0.00
Crit Moves: **** '`*** ****
Green/Cycle: 0.00 0.00 0.00 0.32 D.OD 0.32 0.00 0.59 0.00 0.00 0.59 0.00
Volume/Cap: 0.00 0.00 0.00 0.57 0.00 0.60 O.OD 0.33 O.OD 0.00 0.60 0_00
------------I---------------II---------------il---------------I1----------- --1
Level Of Service Module:
Delay/veh: 0.0 0.0 0.0 18.8 0.0 19.1 0.0 6.7 D.0 0.0 8.6 0.0
User DelAdj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
AdjDel/Veh: 0.0 0.0 0.0 18.8 0.0 19.1 0.0 6.7 0.0 0.0 8.6 0.0
Queue: 0 0 0 16 0 17 0 10 0 0 24 0
Traffix 7.0.0923 (c) 1997 Dowling Assoc. Licensed to RAJAPPAN ~ MEYER, SJ
MITIG8 - Existing PM Wed Aug 4, 1999 04:26:33 Page 1-1
-----------------------------------------------------------------------------
Costco South San Francisco Traffic Impact Analysis
Level Of Service Computation Report
1994 HCM Operations Method (Base Volume Alternative)
*,.**,r+,r*,r++.+,r***+**,rf*~************+++,.,r*++++*******,r*,r***,r*,.*******~,r**~**+*+*
Intersection #536 I-280 NB on-ramp/Serramonte Blvd.
Cycle (sec): I00 Critical Vol./Cap. (X): 0.405
Loss Time (sec): 6 (Y+R 4 sec) Average Delay (sec/veh): 4.7
Optimal Cycle: 60 Level Of Service: A
Approach: North Bound South Bound East Bound West Bound
Movement : L - T - R L - T - R L - T - R L - T - R
------------I---------------tl---------------il---------------II---------------I
Control: Protected Protected Protected Protected
Rights: Include Include Include Include
Min. Green: 0 0 0 0 0 0 0 0 0 0 0 0
Lanes: 0 0 0 0 0 D 0 0 0 0 2 0 2 D 0 0 0 2 0 0
------------I---------------II---------------II---------------II---------------I
Volume Module:
Base Vol: 0 0 0 0 0 0 410 1315 0 0 656 0
Growth Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Initial Bse: 0 0 0 0 0 0 910 1315 0 0 656 0
User Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
PHF Adj: 1.00 1.00 1.00 1.00 1.00 1.00 0.91 0.91 0.91 0.91 0.91 0.91
PHF Volume: 0 0 0 D 0 0 451 1445 0 0 721 D
Reduct Vol: 0 0 0 0 0 0 0 0 0 0 0 0
Reduced Vol: 0 0 0 0 0 0 451 1445 0 0 721 0
PCE Adj: 1.00 1.00 1.OD 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
MLF Adj: 1.00 I.00 1.00 1.00 I.00 1.00 1.00 1.00 I.00 1.00 1.00 1.00
Final Vol.: 0 D 0 0 0 D 451 1445 0 0 721 D
------------i---------------II---------------II---------------11---------------I
Saturation Flow Module:
Sat/Lane: 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900
Adjustment: 1.00 1.00 2.00 1.00 1.00 1.00 1.00 1.00 1.OD 1.00 1.00 1.00
Lanes: 0.00 0.00 0.00 0.00 0.00 0.00 2.00 2.00 0.00 0.00 2.00 0.00
Final Sat.: 0 0 0 D 0 0 3800 3800 0 D 3800 0
------------I---------------II---------------il---------------II---------------I
Capacity Analysis Module:
Vol/Sat: 0.00 0.00 0.00 0.00 0.00 0.00 0.12 0.38 0.00 0.00 0.19 0.00
Crit Maves: **** ****
Green Time: 0.0 0.0 0.0 0.0 0.0 0.0 36.2 94.0 0.0 0.0 57.8 0.0
Volume/Cap: O.OG G.00 0.00 G.OG 0.00 G.00 0.33 0.40 0.00 0.00 0.33 O.OG
------------I---------------II---------------II---------------II---------------i
Level Of Service Module:
Delay/Veh: 0.0 D.0 0.0 0.0 0.0 0.0 15.0 0.2 0.0 0.0 7.1 0.0
User DelAdj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
AdjDel/Veh: 0.0 0.0 0.0 0.0 0.0 0.0 15.0 0.2 0.0 0.0 7.1 0.0
Queue : 0 0 0 0 0 0 9 4 0 0 10 0
Traffix 7.0.0923 (c) 1997 Dowling Assoc. Licensed to RAJAPPAN & MEYER, SJ
`(~ 2000
MZTIGB - Background PM Wed Aug 4, 1999 12:38:39 Page I-1
--------------------------------------------------------------------------------
Costco South San Francisco Traffic Impact Analysis
--------------------------------------------------------------------------------
Level Of Service Computation Report
1994 HCM Operations Method (Base Volume Alternative)
Intersection #536 I-280 NB on-ramp/Serramonte Blvd.
**+**,rf*******~*+*,r******:+**,r***,r******+***,r*+****#**++**+****,r*+,r****+*,r******
Cycle (sec): 100 Critical Vol./Cap. (X): 0.408
Loss Time (sec): 6 (Y+R = 4 sec) Average Delay (sec/veh): 4.7
Optimal Cycle: 23 Level Of Service: A
Approach: North Bound South Bound East Bound West Bound
Movement : L - T - R L - T - R L - T - R L - T - R
------------I---------------II---------------I1---------------II---------------t
Control: Protected Protected Protected Protected
Rights: Include Include Include Include
Min. Green: 0 0 0 0 0 0 0 D 0 0 0 D
Lanes : 0 0 0 D D 0 0 0 0 0 2 0 2 0 0 0 0 2 0 0
------------I---------------II---------------II---------------II---------------I
Volume Module: » Count Date: 3 Aug 1999 «
Base vol: 0 0 0 0 0 0 410 1327 0 0 656 0
Growth Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.OD
Initial Bse: 0 0 0 0 0 0 910 1327 0 D 656 0
User Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
PHF Adj: 1.00 1.00 1.00 1.00 1.00 1.00 0.91 0.91 0.91 0.91 0.91 0.91
PHF Volume: 0 0 0 0 0 0 451 1458 0 0 721 0
Reduct Vol: 0 0 0 0 0 0 0 0 0 0 0 0
Reduced Vol: D 0 0 0 0 0 451 1458 0 0 721 0
PCE Adj: 1.00 I.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
MLF Adj: 1.00 1.00 I.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 I.00 1.00
Final Vol.: 0 0 0 0 0 0 451 1458 0 0 721 0
------------i---------------II---------------II---------------II---------------I
Saturation Flow Module:
Sat/Lane: 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900
Adjustment: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.OD 1.00 1.00 1.00
Lanes: 0.00 0.00 0.00 0.00 0.00 0.00 2.00 2.00 0.00 0.00 2.00 0.00
Final Sat.: 0 0 0 0 0 0 3800 3800 0 0 3800 0
------------I---------------II---------------II---------------II---------------I
Capacity Analysis Module:
Vol/Sat: 0.00 0.00 0.00 0.00 0.00 0.00 0.12 0.38 0.00 D.00 0.19 O.DO
Crit Moves: **** ****
Green Time: 0.0 0.0 0.0 0.0 0.0 0.0 36.2 94.0 0.0 0.0 57.8 0.0
Volume/Cap: 0.00 0.00 0.00 0.00 0.00 0.00 0.33 0.41 0.00 0.00 0.33 0_00
------------I---------------II---------------il---------------II----------- --I
Level Of Service Module:
Delay/Veh: 0.0 0.0 0.0 0.0 0.0 0.0 15.0 0.2 0.0 0.0 7.1 0.0
User DelAdj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Adj Del/Veh: 0.0 0.0 0.0 0.0 0.0 0.0 15.0 0.2 0.0 0.0 7.1 0.0
Queue : 0 0 0 0 0 0 9 4 0 0 1 D 0
Traffix 7.0.0923 (c) 1997 Dowling Assoc. Licensed to RAJAPPAN & MEYER, SJ
^I ~ 2~
MITIG8 - Baeleetre~d PM Wed Aug 4, 1999 12:39x32------------------Page-1_1
---------- P1.~~ELs------------------------------ ----
Costco South San Francisco Traffic Impact Analysis
----------------------_----------------------------------------------------------
Level Of Service Computation Report
1994 HCM Operations Method (Future Volume Alternative)
+*.*****+t+***************~*+****+********+**.********,.*~*+*+*********~*******+*
Intersection #536 Z-280 NB on-ramp/Serramonte Blvd.
Cycle (sec): 100 Critical Vol./Cap. (X): 0.415
Loss Time (sec): 6 (Y+R = 4 sec) Average Delay (sec/veh): 4.6
Optimal Cycle: 24 Level Of Service: A
Approach: North Bound South Bound East Bound West Bound
Movement : L - T - R L - T - R L - T - R L - T - R
------------1---------------II---------------II---------------II---------------I
Control: Protected Protected Protected Protected
Rights: Include Include Include Include
Min. Green: 0 0 0 0 0 0 0 0 0 0 0 0
Lanes : 0 0 0 0 0 0 0 0 0 0 2 0 2 0 0 0 0 2 0 0
------------I---------------II---------------II---------------II---------------i
Volume Module: » Count Date: 3 Aug 1999 «
Base Vol: 0 0 Q 0 0 0 410 1327 0 0 656 0
Growth Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Initial Bse: 0 0 0 0 0 0 410 1327 0 0 656 0
Added Vol: 0 0 0 0 0 0 0 0 0 0 0 0
PasserByvol: 0 0 0 0 0 D 0 23 0 0 13 0
Initial Fut: 0 0 0 0 0 0 410 1350 0 0 669 0
User Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
PHF Adj: 1.00 1.00 1.00 1.00 1.00 1.00 0.91 0.91 0.91 0.91 0.91 0.91
PHF Volume: 0 0 0 0 0 0 451 1484 0 0 735 0
Reduct Vol: 0 0 0 0 0 0 0 0 0 0 0 0
Reduced Vol: 0 0 0 0 0 0 451 1484 0 D 735 0
PCE Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
MLF Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Final Vol.: 0 0 0 0 0 0 451 1484 0 0 735 0
------------I---------------II---------------II---------------II---------------I
Saturation Flow Module:
Sat/Lane: 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900
Adjustment: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Lanes: 0.00 0.00 0.00 0.00 0.00 0.00 Z.00 2.00 0.00 0.00 2.00 0.00
Final Sat.: 0 0 0 0 0 0 3800 3800 0 0 3800 0
------------I---------------II---------------I1---------------II---------------I
Capacity Analysis Module:
Vol/Sat: 0.00 0.00 0.00 0.00 0.00 0.00 0.12 0.39 0.00 0.00 0.19 0.00
Crit Maves: '`'`*'` ****
Green Time: 0.0 0.0 0.0 O.Q 0.0 0.0 35.7 94.0 0.0 0.0 58.3 0.0
Volume/Cap: 0.00 0.00 0.00 0.00 0.00 0.00 0.33 0.42 0.00 0.00 0.33 0.00
------------I---------------II---------------II---------------II---------------I
Level Of Service Module:
Delay/Veh: 0.0 0.0 0.0 0.0 0.0 0.0 15.2 0.2 0.0 0.0 7.0 0.0
User DelAdj: 1.00 1.00 I.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Adj Del/Veh: 0.0 0.0 0.0 0.0 D.0 0.0 15.2 0.2 D.0 0.0 7.0 0.0
Queue: 0 0 0 0 0 0 9 4 0 0 11 0
Traffix 7.0.0923 {c) 1997 Dowling Assoc. Licensed to RAJAPPAN & MEYER, SJ
gnc ~ rah, r~
MITIGB - 2010 -B~~tt PM Wed Aug 4, 1999 12:45:41 Page 1-1
--------------------------------------------------------------------------------
Costco South San Francisco Traffic Impact Analysis
--------------------------------------------------------------------------------
Level Of Service Computation Report
1994 fiCM Operations Method (Base Volume Alternative)
***,r****+~*+****,r*,r***+*+***#****+*+*+**,r***************,rr****++****+****++,r*+**
Intersection #536 I-280 NB on-ramp/Serramonte Blvd.
r+******+**********+******,r**,r*+***+****##+*+t**,r*******,r****+++,r+,r+*+*t*****+**
Cycle (sec): 100 Critical Vol./Cap. (X): 0.425
Loss Time (sec): 6 (Y+R 4 sec) Average Delay (sec/veh): 4.7
Optimal Cycle: 24 Level Of Service: A
*,r++*+++**+*+***~**,r*+*.,rt**+*+*,r,r*+***+*****++*********+**++,r*++*************++
Approach: North Bound South Bound East Bound West Bound
Movement : L - T - R L - T - R L - T - R L - T R
------------I---------------II---------------II---------------II---------------I
Control: Protected Protected Protected Protected
Rights: Include Include Include Include
Min. Green: 0 0 0 0 0 0 0 0 0 0 0 0
Lanes : 0 0 0 0 0 0 0 0 0 0 2 0 2 0 0 0 D 2 0 0
------------I---------------II---------------II---------------II---------------I
Volume Module: » Count Date: 1 Sep 1997 «
Base Vol: 0 0 0 0 0 0 410 1315 0 0 656 0
Growth Adj: 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10
Initial Bse: 0 0 0 0 0 0 451 1447 0 0 722 0
User Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
PHF Adj: 1.00 1.00 1.00 1.00 1.00 I.00 1.00 1.00 1.00 1.00 1.00 1.00
PHF Volume: 0 0 0 0 0 0 451 1447 0 0 722 0
Reduct Vol: 0 0 0 0 0 0 0 0 0 0 0 0
Reduced Vol: 0 0 0 0 0 0 451 1447 0 0 722 0
PCE Adj: 1.00 1.00 1.00 1.00 1.00 I.00 1.00 1.00 1.00 1.00 1.00 1.00
MLF Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.03 1.05 1.00 1.00 1.05 1.00
Final Vol.: 0 0 0 0 0 0 465 1519 D 0 758 0
------------I---------------II---------------II---------------II---------------i
Saturation Flow Module:
Sat/Lane: 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900
Adjustment: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Lanes: 0.00 0.00 0.00 0.00 0.00 0.00 2.00 2.00 0.00 0.00 2.00 0.00
Final Sat.: 0 0 D 0 0 0 3800 3800 0 0 3800 0
------------I---------------il---------------II---------------il---------------I
Capacity Analysis Module:
Vol/Sat: 0.00 0.00 0.00 0.00 0.00 0.00 0.12 0.40 0.00 0.00 0.20 0.00
Crit Moves:
Green/Cycle: 0.00 0.00 0.00 0.00 O.DO 0.00 0.36 0.94 0.00 O.OD D.58 0.00
Volume/Cap: 0.00 0.00 0.00 0.00 0.00 0.00 0.34 0.43 0.00 0.00 0.34 0_00
------------i---------------II---------------II---------------II----------- --I
Level Of Service Module:
Delay/Veh: 0.0 0.0 0.0 0.0 0.0 0.0 15.3 0.2 0.0 0.0 7.1 0.0
User DelAdj: 1.D0 1.D0 1.00 1.00 1.00 1.00 1.00 1.00 1.D0 1.00 1.00 1.00
Adj Del/Veh: 0.0 0.0 0.0 0.0 0.0 0.0 15.3 0.2 0.0 0.0 7.1 0.0
Queue : 0 0 0 0 0 0 9 4 0 0 11 0
**+++***+**.****+*++**********,.*****+******t******+**+**+*****++*++******~**+*+*
Traffix 7.D.0923 (c) 1997 Dowling Assoc. Licensed to RAJRPPAN 6 MEYER, SJ
MITIGB - 2010 Buildout PM Wed Aug 4, 1999 12:47:52 Page 1-1
-----------------------------------------------------------------------------
Costco South San Francisco Traffic Impact Analysis
Level Of Service Computation Report
1994 HCM Operations Method (Future Volume Alternative)
Intersection #536 I-280 NB on-ramp/Serramonte Blvd.
~*+***t**+***********+*~*+*+**+***~****+***t*~**,r*********+++********+*****,.*.*~
Cycle (sec): 100 Critical Vol./Cap. (X): 0.432
Loss Time (sec): 6 (Y+R = 4 sec) Average Delay (sec/veh): 4.7
Optimal Cycle: 24 Level Of Service: A
Approach: North Bound South Bound East Bound West Bound
Movement : L - T - R L - T - R L - T - R L - T - R
------------I---------------II---------------II---------------II---------------I
Control: Protected Protected Protected Protected
Rights: Include Include Include Include
Min. Green: 0 0 0 0 0 0 G 0 0 0 0 0
Lanes: 0 0 0 0 D 0 0 0 0 0 2 0 2 D 0 0 0 2 0 0
------------I---------------II---------------II---------------II---------------I
Volume Module: » Count Date: 1 Sep 1997 «
Base Vol: 0 0 0 0 0 0 410 1315 0 0 656 0
Growth Adj: 1.10 1.10 1.10 1.I0 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10
Initial Bse: D 0 0 0 0 0 451 1447 0 0 722 0
Added Vol: 0 0 0 0 0 0 0 0 0 D 0 0
PasserByVol: 0 0 0 0 0 0 0 23 0 0 13 0
Initial Fut: 0 D 0 0 0 0 451 147D 0 0 735 0
User Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.D0 1.OD 1.00
PHF Adj: 1.00 1.00 I.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.D0 1.00
PHF Volume: 0 0 0 0 0 0 451 1470 0 0 735 0
Reduct Vol: 0 0 0 0 0 0 0 D 0 0 0 0
Reduced Vol: 0 0 0 0 0 0 451 147D 0 0 735 0
PCE Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
MLF Adj: 1.00 1.00 1.D0 1.00 1.00 1.04 1.03 1.05. 1.00 1.00 1.05 1.00
Final Vol.: 0 0 0 0 0 0 465 1543 0 0 771 0
------------I---------------II---------------II---------------If---------------I
Saturation Flow Module:
Sat/Lane: 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900
Adjustment: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Lanes: 0.00 0.00 0.00 0.00 0.00 0.00 Z.00 2.00 0.00 0.00 2.00 0.00
Final Sat.: 0 0 0 0 0 0 3800 3800 D 0 3800 0
------------I---------------II---------------II---------------II---------------I
Capacity Analysis Module:
Vol/sat: 0.00 0.00 0.00 0.00 0.00 0.00 0.12 0.41 0.00 0.00 0.20 0.00
Crit Moves: '`**'` ****
Green/Cycle: 0.00 0.00 D.00 0.00 0.00 0.00 0.35 0.94 0.00 0.00 0.59 0.00
Volume/Cap: 0.00 0.00 0.00 0.00 0.00 0.00 0.35 0.43 0.00 0.00 0.35 0.00
------------I---------------il---------------il---------------il---------------I
Level Of Service Module:
Delay/Veh: 0.0 0.0 0.0 0.0 0.0 0.0 15.4 0.3 0.0 0.0 7.0 0.0
User DelAdj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Adj Del/Veh: 0.0 0.0 D.0 0.0 0.0 O.D 15.9 0.3 D.0 0.0 7.0 0.0
Queue: 0 0 0 0 0 0 10 4 0 0 11 0
Traffix 7.0.0923 (c) 1997 Dowling Assoc. Licensed to RAJAPPAN ~ MEYER, SJ
MZTIGB - Existing PM Wed Aug 4, 1999 04:17:10 Page 1-1
-----------------------------------------------------------------------------
Costco South San Francisco Traffic Impact Analysis
Level Of Service Computation Report
1994 HCM Operations Method (Base Volume Alternative)
Intersection #535 E1 Camino Real/Serramonte
Cycle (sec): 119 Critical Vol./Cap. (X): 0.900
Loss Time (sec): 12 (Y+R = 4 sec) Average Delay (sec/veh): 33.8
Optimal Cycle: 119 Level Of Service: D
Approach: North Bound South Bound East Bound West Bound
Movement : L - T - R L - T - R L - T - R L - T - R
------------I---------------II---------------II---------------II---------------I
Control: Protected Protected Split Phase Split Phase
Rights: Include Ovl Include Ovl
Min. Green: 10 10 10 7 10 10 1G 10 10 10 10 10
Lanes: 1 0 2 1 0 1 0 3 0 1 0 1 0 1 0 0 1 1 0 1
------------I---------------II---------------II---------------II---------------I
Volume Module: » Count Date: 3 Aug 1999 «
Base Vol: 270 983 267 137 758 138 206 327 138 212 422 166
Growth Adj: 1.00 1.00 1.00 1.00 1.00 I.00 1.D0 1.00 1.00 1.00 1.00 1.00
Initial Bse: 270 983 267 137 758 138 206 327 138 212 422 166
User Adj: 1.00 1.00 1.OD 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
PHF Adj: 0.80 0.80 0.80 0.77 0.77 0.77 0.76 0.76 0.76 0.80 0.80 0.80
PHF Volume: 338 1229 334 178 984 179 271 430 182 265 528 208
Reduct Vol: 0 0 0 0 0 0 0 0 0 0 0 0
Reduced Vol: 338 1229 334 178 984 179 271 430 182 265 528 208
PCE Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
MLF Adj: I.00 1.00 1.00 I.00 1.00 1.00 1.00 1.00 1.D0 T.00 1.00 1.00
Final Vol.: 338 1229 334 178 984 179 271 430 182 265 528 208
------------I---------------II---------------II---------------II---------------I
Saturation Flow Module:
Sat/Lane: 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900
Adjustment: 1.00 1.00 1.00 1.00 1.00 1.OD 1.OD 1.00 1.00 1.00 1.OD 1.00
Lanes: 1.00 2.36 0.64 1.00 3.00 1.00 0.61 0.98 0.41 0.67 1.33 1.00
Final Sat.: 1900 4482 1218 1900 5700 1900 1166 1851 783 1270 2530 1900
------------i---------------II---------------II---------------II---------------I
Capacity Analysis Module:
Vol/Sat: 0.18 0.27 0.27 0.09 0.17 0.09 0.23 0.23 0.23 0.21 0.21 0.11
Crit Moves: **** **** **** ****
Green Time: 24.7 36.3 36.3 12.4 24.0 54.7 30.7 30.7 30.7 27.6 27.6 40.0
Volume/Cap: 0.86 0.90 0.90 0.90 0.86 0.20 0.90 0.90 0.90 0.90 0.90 0.33
------------I---------------II---------------II---------------II---------------I
Level Of Service Module:
Delay/Veh: 41.1 30.5 30.5 60.3 34.3 12.4 35.5 35.5 35.5 37.4 37.4 19.1
User DelAdj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.D0 1.00
AdjDel/Veh: 41.1 30.5 30.5 60.3 34.3 12.4 35.5 35.5 35.5 37.4 37.4 19.1
Queue: 12 42 13 8 33 4 11 16 8 11 19 5
**+********+*~***+***+******+**f******f**+**+*****+***f*************+**+**~*****
Traffix 7.0.0923 (c) 1997 Dowling Assoc. Licensed to RAJAPPAN & MEYER, SJ
`~ R aoo 0
MITIGB - Background PM Wed Aug 4, 1999 06:34:42 Page 1-1
-----------------------------------------------------------------------------
Costco South San Francisco Traffic Impact Analysis
Level Of Service Computation Report
1994 HCM Operations Method (Future Volume Alternative)
Intersection #535 El Camino Real/Serramonte
*********+****,r*****+****+**************************************************+***
Cycle {sec): 131 Critical Vol./Cap. (X): 0.909
Loss Time (sec): 12 (Y+R 4 sec) Average Delay (sec/veh): 37.2
Optimal Cycle: I31 Level Of Service: D-
Approach: North Bound South Bound East Bound West Bound
Movement : L - T - R L - T - R L - T - R L - T - R
------------I---------------II---------------II---------------Il---------------I
Control: Protected Protected Split Phase Split Phase
Rights: Include Ovl Include Ovl
Min. Green: 7 10 10 10 10 7 10 10 10 10 10 10
Lanes: 1 0 2 1 0 1 0 3 0 1 0 1 1 0 1 0 1 0 1 0
------------I---------------II---------------II---------------II---------------I
Volume Module:
Base Vol: 274 1006 271 137 807 138 206 327 150 224 422 166
Growth Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Initial Bse: 274 1006 271 137 807 138 206 327 150 224 422 166
Added Vol: 0 0 0 0 0 0 0 0 0 0 0 0
PasserByVal: 0 0 0 0 0 0 0 0 0 0 0 0
Initial Fut: 274 1006 271 137 807 138 206 327 150 224 422 166
User Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
PHF Adj: 0.80 0.80 0.80 0.77 0.77 0.77 0.76 0.76 0.76 0.80 0.80 0.80
PHF Volume: 343 1258 339 178 1048 179 271 430 197 280 528 208
Reduct Vol: 0 0 0 0 0 0 0 0 0 0 0 0
Reduced Vol: 343 1258 339 178 1048 179 271 430 197 280 528 208
PCE Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
MLF Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Final Vol.: 343 1258 339 178 1048 179 271 430 197 280 528 208
------------{---------------II---------------tl---------------11---------------4
Saturation Flow Module:
Sat/Lane: 1900 1900 1900 1900 1900 1900 1900 19D0 1900 1900 1900 1900
Adjustment: 1.00 1.00 1.00 1.00 1.00 I.00 1.00 1.00 1.00 1.00 1.00 1.00
Lanes: 1.00 2.36 0.64 1.00 3.00 1.00 0.77 1.23 1.00 0.55 1.04 0.41
Final Sat.: 1900 4490 1210 1900 5700 1900 1469 2331 1900 1047 1975 778
------------I---------------II---------------II---------------II---------------I
Capacity Analysis Module:
Vol/Sat: 0.18 0.28 0.28 0.09 O.IB 0.09 0.18 0.18 0.10 0.27 0.27 0.27
Crit Moves- **** **** **** ****
Green Time: 26.7 40.4 90.4 13.5 27.2 53.8 26.6 26.6 26.6 38.5 38.5 52.0
Volume/Cap: 0.89 0.91 0.91 0.91 0.89 0.23 0.91 0.91 D.51 0.91 0.91 0.67
------------I---------------II---------------II---------------II---------------I
Level Of Service Module:
Delay/Veh: 47.5 33.5 33.5 65.6 38.5 16.3 43.5 43.5 30.9 36.6 36.6 21.8
User DelAdj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Adj Del/Veh: 47.5 33.5 33.5 65.6 38.5 16.3 43.5 43.5 30.9 36.6 36.6 21.8
Queue: 14 47 14 8 40 4 12 18 7 12 21 7
Traffix 7.0.0923 (c) 1997 Dowling Assoc. Licensed to RAJAPPAN & MEYER, SJ
`i4lf~op P Q of ect
MITIGS - -Bae~ct~re~ertel-PM Wed Auq 4, 1999 06:36:44 Page 1-1
--------------------------------------------------------------------------------
Costco South San Francisco Traffic Impact Analysis
--------------------------------------------------------------------------------
Level Of Service Computation Report
1994 HCM Operations Method (Future Volume Alternative)
Intersection #535 E1 Camino Real/Serramonte
r**,r++x,r,r,t,r*****+*#,t*,t**,t,t,t,r+*,t,t,t,t**,t,t*t**#,tr++****,t,t,rt+r,t,r**+***++**********+*+*
Cycle (sec): 139 Critical Vol./Cap. (X): 0.915
Loss Time (sec): 12 (Y+R = 4 sec) Average Delay (sec/veh): 39.5
Optimal Cycle: 139 Level Of Service: D-
**t**+,r****,r*r+,r+*+,r****,r*+,r***,v**++*tt*,r*+**,r,r:*********++#**,r* c+*************+
Approach: North Bound South Bound East Bound West Bound
Movement : L - T - R L - T - R L - T - R L - T - R
------------I---------------)I---------------II---------------II---------------I
Control: Protected Protected Split Phase Split Phase
Rights: Include Ovl Include Ovl
Min. Green: 7 10 10 10 10 7 10 10 10 10 10 10
Lanes: 1 0 2 1 0 1 D 3 0 1 0 1 1 0 1 0 1 0 1 0
------------I---------------II---------------II---------------II---------------I
Volume Module:
Base Vol: 274 1006 271 137 807 138 206 327 150 224 422 166
Growth Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Initial Bse: 274 1006 271 137 807 138 206 327 150 224 422 166
Added Vol: 0 0 0 0 0 0 0 0 0 0 0 0
PasserByVol: 7 31 7 0 31 D 0 0 7 7 0 0
Initial Fut: 281 1037 278 137 838 138 206 327 157 231 422 166
User Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
PHF Adj: 0.80 0.80 0.80 0.77 0.77 0.77 0.76 0.76 0.76 0.80 0.80 0.80
PHF Volume: 351 1296 348 178 1088 179 271 430 207 289 528 208
Reduct Vol: 0 0 0 0 0 0 0 0 0 0 0 0
Reduced Vol: 351 1296 348 178 1088 179 271 430 207 289 528 208
PCE Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
MLF Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Final Vol.: 351 1296 348 178 1088 179 271 430 207 289 528 208
------------i---------------11---------------II---------------ll---------------I
Saturation Flow Module:
Sat/Lane: 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900
Adjustment: 1.00 1.00 1.00 1.OD 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Lanes: 1.00 2.36 0.64 1.00 3.00 1.00 0.77 1.23 1.00 0.56 1.03 0.41
Final Sat.: 1900 4493 1207 1900 5700 1900 1469 2331 1900 1071 1957 771
------------i---------------II---------------II---------------II---------------I
Capacity Analysis Module:
Vol/Sat: 0.18 0.29 0.29 0.09 0.19 0.09 0.18 0.18 0.11 0.27 0.27 0.27
Crit Moves• **** **** **** ****
Green Time: 28.5 43.8 43.8 14.2 29.5 57.5 28.0 28.0 28.0 41.0 41.0 55.2
Volume/Cap: 0.90 0.92 0.92 0.92 0.90 0.23 0.92 0.92 0.54 0.92 0.92 0.68
------------I---------------il---------------II---------------II---------------I
Level Of Service Module:
Delay/Veh: 51.1 35.3 35.3 69.3 41.2 17.1 46.3 46.3 33.3 38.9 38.9 23.2
User DelAdj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
AdjDel/Veh: 51.1 35.3 35.3 69.3 41.2 17.1 46.3 46.3 33.3 38.9 38.9 23.2
Queue: 16 52 16 9 44 4 13 19 7 13 23 7
+**.*+*****t**++******+**.*******+**+*****+*~**+++***,r***+t*+*~..******+******+**
Traffix 7.0.0923 (c) 1997 Dowling Assoc. Licensed to RAJAPPAN ~ MEYER, SJ
Bad~j2und Pa e 1-1
MITIG8 - 2010 $~.d.ds~ PM Wed Aug 4 , 1999 11:27:22 4
------------------------
Costco South San Francisco Traffic Impact Analysis
-----------------------------------------------
Level Of Service Computation Report
1994 HCM Operations Method (Base Volume Alternative)
*******++*.***,r************+*******+**+***,r**+**~**,.+*+***+,r**+*******+*****t***
Intersection #535 E1 Camino Real/Serramonte
+*+a+,t++***rt***,r*++t**+,t,r**,t,t*********,t**+***#t+******++***+*,r+*+*+**********+**
Cycle (sec)• 86 Critical Vol./Cap. (X): 0.854
Loss Time (sec): 12 (Y+R = 4 sec) Average Delay (sec/veh): 23.9
Optimal Cycle: 86 Level Of Service: C
Approach: North Bound South Bound East Bound West Bound
Movement: L- T- R L- T- R L- T- R L- T--_--R-I
_ __ ______ II---------------II--------
I---------------II---------------
Control: Protected Protected Split Phase SpliOvlhase
Rights: Include Ovl Include
Min. Green: 7 10 10 7 10 10 10 10 10 10 1D 10
Lanes: 1 0 2 1 0 1 0 3 0 1 0 1 0 1 0 0 1 1--D--1-I
------------i---------------II---------------II---------------II--------
Volume Module:
Base Vol: 274 1006 271 137 807 138 206 327 150 224 422 166
Growth Adi: 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10
Initial Bse: 301 1107 298 151 888 152 227 360 165 296 464 183
User Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
PHF Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
PHF Volume: 301 1107 298 151 888 152 227 360 165 246 464 183
Reduct Vol: D 0 0 0 0 0 0 D 0 0 0 0
Reduced Vol: 301 1107 298 151 888 152 227 360 165 246 464 183
PCE Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
MLF Adj: 1.00 1.10 1.10 1.00 1.10 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Final Vol.: 301 1217 328 151 976 152 227 360 165 246 464_--1831
II---------------II---------------II-------
------------I---------------
Saturation Flow Module:
Sat/Lane: 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900
Adjustment: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.OD 1.00 I.00 1.00
Lanes: 1.00 2.36 0.64 1.00 3.00 1.00 0.60 0.96 0.44 0.69 1.31 1.00
Final Sat.: 1900 9490 1210 1900 5700 1900 1147 1819 834 1317 2483 -19001
------------I---------------II---------------II---------------II----------
Capacity Analysis Module:
Vol/Sat: 0.16 0.27 0.27 0.08 0.17 0.08 0**0 0.20 D.ZO 0.19 0**9 0.10
Crit Moves: **'* ~*~"`
Green/Cycle: 0.20 0.32 0.32 0.09 0.21 0.44 0.23 0.23 0.23 0.22 0.22 0.31
Volume/Cap: 0.80 0.85 0.85 0.85 0.80 0.18 0.85 0.85 0.85 0.85 0.85 0.311
II---------------II--------------- 1-------------
------------i---------------
Level Of Service Module:
Delay/Veh: 29.5 20.8 20.8 46.1 23.6 9.3 26.3 26.3 26.3 27.0 27.0 14.7
User DelAdj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
AdjDel/Veh: 29.5 20.8 20.8 46.1 23.6 9.3 26.3 26.3 26.3 27.0 2712 14.3
Queue: 8 29 9 5 23 2 7 10 5
********+*+*.****+***+***.*+********:*++**+***,r****«+*++**t*******+*****+******+
Traffix 7.0.0923 (c) 1997 Dowling Assoc. Licensed to RAJAPPAN ~ MEYER, SJ
MITIG8 - 2010 Buildout PM Wed Aug 4, 1999 11:26:10 Page 1-1
-----------------------------------------------------------------------------
Costco South San Francisco Traffic Impact Analysis
Level Of Service Computation Report
1994 HCM Operations Method (Future Volume Alternative)
*****,r,-~,r**,r*****+,r*****++**,r*+***,r********,r*********,r+*.,r*,r****+,r***+**********
Intersection #535 E1 Camino Real/5erramonte
*w+*++*r**t,t*,t*,t*,t*+,t*,r*tt,t,t**,r+***,r,r++**+*,t**,r,t**t*,t****++.**,t***+***+*,r,t******
Cycle (sec): 90 Critical Vol./Cap. (X): 0.861
Loss Time (sec): 12 (Y+R = 4 sec) Average Delay (sec/veh): 25.0
Optimal Cycle: 90 Level Of Service: D
*****+**++r*+*+*****,r**********+****,r*+++******+++******,r****+***+.++++++**+***+*
Approach: North Bound South Bound East Bound West Bound
Movement : L - T - R L - T - R L - T - R L - T - R
------------I---------------II---------------II---------------II---------------I
Control: Protected Protected Split Phase Split Phase
Rights: Include Ovl Include Ovl
Min. Green: 7 10 10 7 10 10 10 10 10 10 10 10
Lanes: 1 0 2 1 0 1 0 3 0 1 0 1 0 1 0 0 1 1 0 1
------------I---------------II---------------II---------------II---------------I
Volume Module:
Base Vol: 274 1006 271 137 807 13B 206 327 I50 224 422 166
-1 Growth Adj: 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10
Initial Bse: 301 1107 298 151 888 152 227 360 165 246 464 183
Added Vol: 0 0 0 0 0 0 0 0 0 0 0 0
PasserByVol: 7 31 7 0 31 0 0 0 7 7 0 0
Initial Fut: 308 1138 305 151 919 152 227 360 172 253 464 183
User Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
PHF Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
PHF Volume: 308 1138 305 151 919 152 227 360 172 253 464 183
Reduct Vol: 0 0 0 0 0 0 0 0 0 0 G G
Reduced Vol: 308 1138 305 151 919 152 227 360 172 253 464 183
PCE Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
MLF Adj: 1.00 1.I0 1.10 1.00 1.10 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Final Vol.: 308 1251 336 151 1011 152 227 360 172 253 464 183
------------4---------------1V---------------44---------------{{---------------{
Saturation Flow Module:
Sat/Lane: 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900
Adjustment: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Lanes: 1.00 2.36 0.64 1.00 3.00 1.00 0.60 0.95 0.45 0.71 1.29 1.00
Final Sat.: 1900 4493 1207 1900 5700 1900 1136 1802 861 1341 2459 1900
------------I---------------II---------------II---------------II---------------I
Capacity Analysis Module:
Vol/Sat: 0.16 0.28 0.28 0.08 0.28 0.08 0.20 0.20 0.20 0.19 0.19 0.10
Crlt MOVes' **** **** **** ****
Green/Cycle: 0.20 0.32 0.32 0.09 0.22 0.45 0.23 0.23 0.23 0.22 0.22 0.31
Volume/Cap: 0.82 0.86 0.86 0.86 0.82 0.18 0.86 0.86 0.86 0.86 0.86 0.31
------------I---------------il---------------II---------------II---------------I
Level Of Service Module:
Delay/Veh: 31.3 2I.6 21.6 48.3 24.8 9.6 27.6 27.6 27.6 28.3 28.3 15.4
User DelAdj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Adj Del/Veh: 31.3 21.6 21.6 48.3 24.8 9.6 27.6 27.6 27.6 28.3 28.3 15.4
Queue: 9 31 10 5 25 2 7 10 6 8 13 4
Traffix 7.0.0923 (c) 1997 Dowling Assoc. Licensed to RAJAPPAN & MEYER, SJ
MITIG8 - Existing PM Wed Aug 4, 1999 11:52:34 Page 1-1
-----------------------------------------------------------------------------
Costco South San Francisco Traffic Impact Analysis
Level Of Service Computation Report
1994 HCM Operations Method (Base Volume Alternative)
********************************************************************************
Intersection #533 Juniperro Serra Blvd/Serramonte Blvd
********************************************************************************
Cycle (sec): 100 Critical Vol./Cap. (X): 0.769
Loss Time {sec): 12 (Y+R = 4 Sec) Rverage Delay (sec/veh): 23.3
Optimal Cycle: 70 Level Of Service: C-
Approach: North Bound South Bound East Bound West Bound
Movement : L - T - R L - T - R L - T - R L - T - R
------------I---------------1I---------------II---------------II---------------1
Control: Split Phase Split Phase Protected Protected
Rights: Ovl Include Ovl Include
Min. Green: 10 10 10 i0 10 10 7 10 10 7 10 10
Lanes: 2 1 1 0 1 0 1 1 0 1 2 D 2 0 1 1 0 1 1 0
------------I---------------II---------------II---------------II---------------I
Volume Module: » Count Date: 3 Aug 1999 «
Base Vol: 367 390 138 111 383 157 485 668 162 237 966 38
Growth Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Initial Bse: 367 390 138 111 383 157 485 668 162 237 966 38
User Adj: 1.00 1.00 1.00 1.OD 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
PHF Adj: 0.88 0.88 0.88 0.90 0.90 0.90 0.95 0.95 0.95 0.94 0.94 0.94
PHF Volume: 417 443 157 123 426 174 511 703 171 252 1028 40
Reduct Vol: 0 0 0 0 0 D 0 0 0 0 0 0
Reduced Vol: 417 443 157 123 426 179 511 703 171 252 1028 40
PCE Rdj: 1.00 1.00 1.00 1.00 1.00 1.D0 1.D0 1.00 1.00 1.00 1.00 1.00
MLF Adj: 1.00 1.00 1.00 1.00 1.00 I.QO I.00 I.00 1.00 I.00 1.00 I.00
Final Vol.: 417 443 157 123 426 174 511 703 171 252 1028 40
------------I---------------II---------------II---------------II---------------I
Saturation Flow Module:
Sat/Lane: 1900 1900 1900 1900 190D 1900 1900 1900 1900 19D0 1900 1900
Adjustment: 1.00 1.00 1.00 1.OD 1.OQ 1.00 1.00 1.00 2.00 2.00 1.00 1.00
Lanes: 2.00 2.00 1.00 0.45 1.55 1.00 2.00 2.00 1.Q0 1.00 1.93 0.07
Final Sat.: 3800 3800 1900 851 2949 1900 3800 3800 1900 1900 3658 142
------------I---------------II---------------II---------------II---------------I
Capacity Analysis Module:
Vol/Sat: 0.11 0.12 O.D8 0.14 0.14 0.09 0.13 0.19 0.09 0.13 0.28 0.28
Crlt Moves• **** **** **** ****
Green Time: 15.2 15.2 37.7 18.8 18.8 18.8 17.5 31.5 46.6 22.6 36.6 36.6
Volume/Cap: 0.72 0.77 0.22 0.77 0.77 0.49 D.77 0.59 0.19 0.59 0.77 0.77
------------I---------------II---------------II---------------II---------------I
Level Of Service Module:
Delay/Veh: 27.7 28.6 13.7 28.4 28.4 24.3 29.2 19.2 10.1 23.9 20.0 20.0
User DelAdj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.Q0 1.00 1.00
AdjDel/Veh: 27.7 28.6 13.7 28.4 28.4 24.3 29.2 19.2 10.1 23.9 20.4 20.0
Queue: 12 I3 3 4 12 4 14 17 3 6 26 2
Traffix 7.0.0923 (c) 1997 Dowling Assoc. Licensed to RAJAPPAN 6 MEYER, SJ
`1R a~ov
MITIGS - Background PM Wed Aug 4, 1999 11:50:28 Page 1-1
------------------------------------------------------T------------------------
Costco South San Francisco Traffic Impact Analysis
------------------------------------------------------------------------------
Level Of Service Computation Report
1994 HCM Operations Method (Base Volume Alternative)
Intersection #533 Juniperro Serra Blvd/Serramon*_e Blvd
Cycle (sec): 100 Critical Vol./Cap. (X): 0.785
Loss Time (sec): 12 (Y+R = 4 sec} Average Delay (sec/veh): 23.7
Optimal Cycle: 74 Level Of Service: C-
**a,r~+r++#+irir,r#*,ti.,t**ir*r,t*+,t*+*r**a+,tr,t+,r**ir*,t*a,tt+*,t*ir*t,t++*,t*++,t+*.**.+,r+**~,tri.
Approach: North Bound South Bound East Bound West Bound
Movement : L - T - R L - T - R L - T - R L - T R
------------I---------------II---------------il---------------II---------------I
Control: Split Phase Split Phase Protected Protected
Rights: Ovl Include Ovl Include
Min. Green: 10 10 10 10 10 10 7 10 10 7 10 10
Lanes: 2 1 1 0 1 1 0 1 1 0 2 0 2 0 1 1 0 1 1 0
------------I---------------II---------------II---------------II---------------I
Volume Module: » Count Date: 3 Aug 1999 «
Base Vol: 367 390 138 111 383 157 485 680 162 237 970 38
Growth Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Initial Bse: 367 390 138 111 383 157 485 680 162 237 970 38
User Adj: 1.DD 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
PHF Adj: 0.88 0.88 0.88 0.90 0.90 0.90 0.95 0.95 0.95 0.94 0.94 0.94
PHF Volume: 417 443 157 123 426 174 511 716 171 252 1032 40
Reduct Vol: 0 0 0 0 0 0 0 0 0 0 0 0
Reduced Vol: 417 443 157 123 426 174 511 716 171 252 1032 40
PCE Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
MLF Adj: 1.00 1.00 1.00 1.D0 1.00 1.00 1.00 I.OD 1.00 1.00 1.00 1.00
Final Vol.: 417 443 157 123 426 174 511 716 171 252 1032 40
------------i---------------II---------------II---------------II---------------I
Saturation Flow Module:
Sat/Lane: 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900 19D0 1900
Adjustment: 1.00 1.00 1.00 1.00 1.00 1.00 1.OD 1.00 1.00 1.00 1.00 1.00
Lanes: Z.00 2.00 1.00 1.00 1.42 0.58 2.00 2.00 1.00 1.00 1.93 0.07
Final Sat.: 3800 3800 1900 1900 2698 1102 3800 3800 1900 1900 3658 142
------------I---------------II---------------II---------------II---------------I
Capacity Analysis Module:
Vol/Sat: 0.11 0.12 0.08 0.06 0.16 0.16 0.13 0.19 0.09 0.13 D.28 0.28
Crit Moves: ***" *'`'`* **~* ****
Green Time: 14.8 14.8 36.8 20.1 20.1 Z0.1 17.1 31.1 46.0 21.9 35.9 35.9
Volume/Cap: 0.74 0.79 0.22 0.32 0.79 0.79 0.79 0.61 0.20 0.61 0.79 0_'19
------------I---------------II---------------il---------------II------------ --I
Level Of Service Module:
Delay/Veh: 28.1 29.2 14.1 22.2 28.3 28.3 30.0 19.5 10.4 24.5 20.7 20.7
User DelAdj: 1.00 1.00 1.00 1.OD 1.00 1.00 1.00 1.00 1.00 1.D0 1.00 1.00
AdjDel/Veh: 28.1 29.2 14.1 22.2 28.3 28.3 30.0 19.5 10.4 24.5 20.'7 20.7
Queue: 12 13 3 3 12 5 15 17 3 7 27 2
Traffix 7.0.0923 (c) 1997 Dowling Assoc. Licensed to RAJAPPAN & MEYER, SJ
`~Facoa
Pro ec.~
MITIG8 - PM Wed Auq 4, 1999 06:55:19 Page 1-1
--------------------------------------------------------------------------------
Costco South San Francisco Traffic Impact Analysis
---------------------------------------------------------------------------
Level Of Service Computation Report
1994 HCM Operations Method (Future Volume Alternative)
*********++++**+******+**,r*,r,r*,r*+**,r**,r,r,r**+f~*****++***+**,r****,rt++*****.*.***+
Intersection #533 Juniperro Serra Blvd/Serramonte Blvd
Cycle (sec}: 100 Critical Vol./Cap. (X): 0.785
Loss Time (sec): 12 (Y+R = 4 sec) Averaqe Delay (sec/veh): 23.8
Optimal Cycle: 74 Level Of Service: C-
Approach: North Bound South Bound East Bound West Bound
Movement : L - T - R L - T - R L - T - R L T R
------------I---------------II---------------II---------------II---------------i
Control: Split Phase Split Phase Protected Protected
Rights: Ovl Include Ovl Include
Min. Green: 10 10 10 10 10 10 7 ld 10 7 10 10
Lanes: 2 1 1 0 1 1 0 1 1 0 2 0 2 0 1 1 0 1 1 0
------------I---------------II---------------it---------------II---------------I
Volume Module: » Count Date: 3 Auq 1999 «
Base Vol: 367 390 138 111 383 157 485 680 162 237 970 38
Growth Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 i.00 1.00 1.00 1.00
Initial Bse: 367 390 138 111 383 157 485 680 162 237 970 38
Added Vol: 0 D 0 0 0 0 0 0 0 0 0 0
PasserByVol: 23 0 0 0 0 0 0 0 23 0 0 0
Initial Fut: 390 390 138 111 383 157 485 680 185 237 970 38
User Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
PHF Adj: 0.88 0.88 0.88 0.90 0.90 0.90 0.95 0.95 0.95 0.94 0.94 0.94
PHF Volume: 443 443 157 123 426 174 511 716 195 252 1032 40
Reduct Vol: 0 0 0 0 0 0 0 0 0 0 0 0
Reduced Vol: 443 443 157 123 426 174 511 716 195 252 1032 90
PCE Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
MLF Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.OD
Final Vol.: 443 443 157 123 426 174 511 716 195 252 1032 40
------------I---------------!)---------------ii---------------1I---------------I
Saturation Flow Module:
Sat/Lane: 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900 1900
Adjustment: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Lanes: 2.00 2.00 1.00 1.00 1.42 0.58 2.00 2.00 1.00 1.00 1.93 0.07
Final Sat.: 3800 3800 1900 1900 2698 1102 3800 3800 1900 1900 3658 142
------------I---------------II---------------II---------------II---------------I
Capacity Analysis Module:
Vol{Sat: 0.12 0.12 0.08 0.06 0.16 0.16 0.13 0.19 0.10 0.13 0.28 0.28
*,r*+ ***« ***,r **,r*
Crit Moves:
Green Time: 14.8 14.8 36.8 20.1 20.1 20.1 17.1 31.1 46.0 21.9 35.9 35.9
Volume/Cap: 0.79 0.79 0.22 0.32 0.79 0.79 0.79 0.61 0.22 0.61 0.79 0.79
------------I---------------II---------------II---------------II---------------1
Level Of Service Module:
Delay/Veh: 29.1 29.1 14.1 22.2 28.3 28.3 30.0 19.5 10.5 24.5 20.7 20.7
User DelAdj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Adj Del/Veh: 29.1 29.1 14.1 22.2 28.3 28.3 30.0 19.5 10.5 24.5 20.7 20.7
Queue: 13 13 3 3 12 5 15 17 3 7 27 2
Traffix 7.0.0923 (c) 1997 Dowling Assoc. Licensed to RAJAPPAN 6 MEYER, SJ
yK 2f,~o
MITIG8 - Background PM Wed Aug 4, 1999 12:19:11 Page 1-1
--------------------------------------------------------------------------------
Costco South San Francisco Traffic Impact Analysis
--------------------------------------------------------------------------------
Level Of Service Computation Report
1994 HCM Operations Method (Base Volume Alternative)
Intersection #533 Juniperro Serra Blvd/Serramonte Blvd
Cycle {sec): 100 Critical Vol./Cap. (X): 0.797
Loss Time (sec): 12 (Y+R = 4 sec) Average Delay (sec/veh): 23.9
Optimal Cycle: 76 Level Of Service: C-
Approach: North Bound South Bound East Bound West Bound
Movement : L - T - R L - T - R L - T - R L - T - R
------------i---------------II---------------II---------------II---------------I
Control: Split Phase Split Phase Protected Protected
Rights: Ovl Include Ovl Include
Min. Green: 10 10 10 10 10 10 7 10 10 7 10 10
Lanes: 2 1 1 0 1 1 0 1 1 0 2 0 2 0 1 1 0 1 1 0
------------I---------------II---------------II---------------II---------------t
Volume Module: » Count Date: 3 Aug 1999 «
Base Vol: 367 390 138 111 383 157 485 680 162 237 970 38
Growth Adj: 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10
Initial Bse: 404 429 152 122 421 173 534 748 178 261 1067 42
User Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
PHF Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
PHF Volume: 404 429 152 122 421 173 534 748 178 261 1067 42
Reduct Vol: 0 0 0 0 0 0 0 0 0 0 0 0
Reduced VoI: 404 429 152 122 921 173 534 748 178 261 1067 42
PCE Adj: 1.00 1.OD 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
MLF Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.OD I.00 1.D0 1.00 1.00 1.00
Final Vol.: 404 429 152 122 421 173 534 748 178 261 1067 42
------------I---------------II---------------11---------------II---------------I
Saturation Flow Module:
Sat/Lane: 1900 1900 1900 1900 1900 1900 1900 1900 19D0 1900 1900 1900
Adjustment: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.D0 1.00
Lanes: 2.00 2.00 1.00 1.00 1.42 0.58 2.00 2.00 1.00 1.00 1.92 0.08
Final Sat.: 3800 3800 1900 1900 2693 1107 3800 3800 1900 1900 3656 144
------------I---------------II---------------II---------------11---------------I
Capacity Analysis Module:
Vol/Sat: 0.11 0.11 D.08 0.06 0.16 0.16 0.14 0.20 D.09 0.14 D.29 0.29
Crit Moves- **** "** **'`* ****
Green Time: 14.2 14.2 36.5 19.6 19.6 19.6 17.6 31.9 46.1 22.3 36.6 36.6
Volume/Cap: 0.75 0.80 0.22 0.33 0.80 0.80 0.80 G.62 0.20 0.62 0.80 0.80
------------I---------------II---------------II---------------II---------------I
Level Of Service Module:
Delay/Veh: 28.7 29.9 14.2 22.5 29.0 29.0 30.2 19.3 10.4 24.5 20.7 20.7
User De1Adj: 1.00 1.D0 1.00 1.00 1.OD 1.00 1.00 1.00 1.00 1.00 1.00 1.00
AdjDel/Veh: 28.7 29.9 14.2 22.5 29.0 29.0 30.2 19.3 1D.4 24.5 20.7 20.7
Queue: 12 13 3 3 12 6 15 18 3 7 28 2
Traffix 7.0.4923 (c) 1997 Dowling Assoc. Licensed to RAJAPPAN ~ MEYER, SJ
,yR Zoia
MITIG8 - Bacl d PM Wed Aug 4, 1999 12:20_17------------------Page 1-1
----------QBS2 ~ ~ ----------------------------- ----------
Costco South San Francisco Traffic Impact Analysis
--------------------------------------------------------------------------------
Level Of Service Computation Report
1994 HCM Operations Method (Future Volume Alternative)
Intersection #533 Juniperro Serra Blvd/Serramonte Blvd
Cycle {sec): 100 Critical Vol./Cap. (X): 0.797
Loss Time (sec): 12 (Y+R = 4 sec) Average Delay (sec/veh): 24.D
Optimal Cycle: 76 Level Of Service: C-
Approach: North Bound South Bound East Bound West Bound
Movement : L - T - R L - T - R L - T - R L - T - R
------------I---------------1I---------------II---------------I1---------------I
Control: Split Phase Split Phase Protected Protected
Rights: Ovl Include Ovl Include
Min. Green: 10 10 10 10 10 i0 7 10 10 7 10 10
Lanes : 2 1 1 0 1 1 0 1 1 0 2 0 2 D 1 1 D 1 1 0
------------I---------------II---------------I----------------II---------------I
Volume Module: » Count Date: 3 Aug 1999 «
Base Vol: 367 390 138 11I 383 157 485 680 162 237 97G 38
Growth Adj: 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10 1.10
Initial Bse: 404 429 152 122 921 173 534 748 178 261 1067 42
Added Vol: 0 0 0 0 0 D 0 0 0 0 D 0
PasserByVol: 23 0 0 0 0 0 0 0 23 0 0 0
Initial Fut: 427 429 152 122 421 173 534 748 201 261 1067 42
User Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.OD 1.00 1.00 1.00
PHF Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.OD 1.D0 1.00 1.00 1.00 1.00
PHF Volume: 427 429 152 222 421 173 534 748 201 261 1067 42
Reduct Vol: 0 0 0 0 0 0 0 0 0 0 0 0
Reduced Vol: 427 429 152 122 421 173 534 748 201 261 1067 42
PCE Adj: 1.00 1.D0 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
MLF Adj: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Final Vol.: 427 429 152 122 421 173 534 748 201 261 1067 42
------------I---------------If---------------II---------------II---------------i
Saturation Flow Module:
Sat/Lane: 1900 1900 1900 1900 1900 1900 1900 190D 1900 1900 1900 1900
Adjustment: 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00 1.00
Lanes: 2.00 2.00 1.00 1.00 1.42 0.58 2.00 2.00 1.00 1.00 1.92 0.08
Final Sat.: 3800 3800 1900 1900 2693 1107 3800 3800 1900 1900 3656 144
------------I---------------il---------------II---------------II---------------I
Capacity Analysis Module:
Vol/Sat: O.il 0.11 0.08 0.06 D.16 D.16 0.14 0.20 0.11 0.14 0.29 0.29
Crlt MOVe3' **** **** **** ****
Green Time: 14.2 14.2 36.5 19.6 19.6 19.6 17.6 31.9 46.1 22.3 36.6 36.6
Volume/Cap: 0.79 0.80 0.22 0.33 0.80 0.80 0.80 0.62 0.23 0.62 0.80 0.80
------------I---------------II---------------II---------------II---------------I
Level Of Service Module:
Delay/Veh: 29.7 29.8 14.2 22.5 29.0 29.0 30.2 19.3 10.5 24.5 20.7 20.7
User DelAdj: 1.00 1.00 1.D0 1.00 1.00 1.00 1.00 1.00 1.00 1.OD 1.DD 1.00
AdjDel/Veh: 29.7 29.8 14.2 22.5 29.0 29.0 30.2 19.3 10.5 24.5 20.7 20.7
Queue: 13 13 3 3 12 6 15 18 3 7 28 2
Traffix 7.0.0923 (c) 1997 Dowling Assoc. Licensed to RAJAPPAN ~ MEYER, SJ
r- Giroux 8c Associates
~ Environmental Consultants
ACOUST =CAL ANALY S Z S
COSTCO WHOLESALE STORE/GAS STATION
SOUTH SAN FRANCISCO, CALIFORNIA
Prepared for:
Jerry Haag & Associates
Attn: Jerry Haag
2029 University Avenue
Berkeley, CA 94704
Date:
July 8, 1999
17744 Sky Phrk Circle, Suite 210, Irvine, California 92614 -Phone (949) ts51-tfbuv - tnx ~y4y~ zs~~-rso~~
S ETT = NG
Sound is mechanical energy transmitted by pressure waves in a
compressible medium such as air. Noise is unwanted sound. Sound
is characterized by various parameters that describe the rate of
oscillation of sound waves, the distance between successive troughs
or crests, the speed of propagation, and the pressure level or
energy content of a given sound. In particular, the sound pressure
level has become the most common descriptor used to characterize
the loudness of an ambient sound level.
The decibel (dB) scale is used to quantify sound intensity. A
decibel is defined as the logarithmic ratio of a physical parameter
relative to some reference level. For sound, the reference level
is the faintest sound that can be heard by an average person with
good auditory acuity. Since the human ear is not equally sensitive
to all sound frequencies within the entire spectrum, human response
is factored into sound descriptions in a process called "A-
weighting", written as dB(A). All noise units in the following
discussion written as "dB" should be understood to be "dB{A)".
Time variations in noise exposure is typically expressed in terms
of a steady-state energy level equal to the energy content of the
time varying period (called Leq), or, alternately, as a statistical
description of what sound level is exceeded over some fraction of
a given observation period. Finally, because community receptors
are more sensitive to unwanted noise intrusion during the evening
and at night, state law requires that for planning purposes, an
artificial dB increment be added to quiet time noise levels in a
24-hour noise descriptor called the Community Noise Equivalent
Level (CNEL). CNEL is broken down into three time periods where
one noise penalty is assigned to evening events, and a more
stringent penalty for the hours from 10 PM to 7 AM. A similar
descriptor called the day-night level (Ldn) is used in some
jurisdictions. Ldn and CNEL are almost identical. CNEL and Ldn
are considered interchangeable in this noise analysis.
An interior CNEL of 45 dB is mandated for multiple family
dwellings, and is considered a desirable noise exposure for single
family dwelling units as well. Since typical noise attenuation
within residential structures with closed windows is around 20 dB,
an exterior noise exposure of 65 dB CNEL is thus the design
exterior noise exposure for most residential dwellings in
California that facilitates meeting the interior standard. A level
of 65 dB CNEL is also the threshold where ambient noise begins to
significantly interfere with outdoor recreation or relaxation such
as quiet conversations, reading, etc. A noise exposure standard of
65 dB CNEL thus is appropriate for achieving both acceptable
1
interior as well as exterior noise exposures. Because commercial
uses are not occupied on a 24-hour basis, the same exterior noise
exposure standard generally does not apply for such less noise
sensitive land uses.
There are two types of noise standards/criteria that are applied to
the ambient noise environment to protect the public. Local
jurisdictions generally have community noise ordinances that
dictate the allowable noise levels that a regulated source may
impose upon an adjacent land use. These thresholds generally vary
with the noise sensitivity of the affected use. Such noise
ordinances are prescriptive and proactive.
For many sources, especially from transportation, noise control is
preempted by state or federal law. Local response to such noise
sources is therefore more reactive. Achieving an acceptable noise
exposure near airports or highways is accomplished by regulating
allowable land use, by requiring construction of noise propagation
barriers, or by requiring extra architectural noise protection to
insure that building interiors are quiet even when the exterior is
excessively noisy. The range of allowable noise exposures as a
function of exposure to locally preempted sources is generally
articulated in the Noise Element of the affected jurisdiction's
General Plan.
Noise Standards
Noise standards that are applicable to the proposed project are
contained in the City of San Francisco Noise Ordinance (Chapter
8.32 of the Municipal Code). The ordinance establishes maximum
noise levels that a noise generator on one property may impose upon
an adjacent property. These noise standards vary with the noise
sensitivity of the receiving property. The project site is in a
Planned Commercial (P-C-L) zone. Adjacent land uses include a
mobile home and travel trailer park ina P-C-L zone northwest of the
site, and low (R-1-E) and medium (R-2-H) density residential uses
southwest of the site across E1 Camino Real.
For on-site sources of noise generation potentially affecting the
residential uses adjacent to and across from the project site, the
City of South San Francisco Noise Ordinance prohibits "excessive,
unnecessary and unreasonable noises from any and all sources in the
community" in order to protect "the peace, health, safety and
welfare" of city residents. (Section 8.32.010) In addition to
numerical standards, the ordinance further prohibits "any loud,
unnecessary or unusual noise which disturbs the peace or quiet of
any neighborhood." (Section 8.32.030d) The ordinance sets time and
noise level (dB) restrictions for commercial zones as follows:
2
Time Period
10 p.m. - 7 a.m.
7 a.m. - 10 p.m.
(Table 8.32.030)
60
65
These limits apply at the northern project property line shared
with the mobile home and travel trailer park. These limits are not
to be exceeded on more than fifty percent of all noise readings n
anyone hour (called an "L50" standard). On-site activities such as
truck unloading, mechanical equipment such as air conditioners,
operation of maintenance activities such as parking lot sweeping or
trash pickup, etc. may exceed this L50 standard on occasion if such
activities stay within the parameters of the ordinance. If the
noise level standard is exceeded by plus 5 dB, the cumulative
period of violation may not exceed 15 minutes in an hour. More
stringent time restrictions apply as the violation of the standard
increases in dB level with a maximum violation of 20 dB. (See
Section 8.32.030)
On-site activities could constitute a nuisance if they annoy any
reasonable number of people, even if the numerical standards are
not exceeded. Nuisance, however, is a subjective determination
such that quantitative standards like those cited above are
normally the preferred basis for assessing noise environment
acceptability.
Commercial activity noise spill-over into adjacent low-residential
uses across El Camino Real is specifically addressed in Section
8.32.030(c) which states that the noise level standard at any
commercial/low density residential interface shall be that
applicable to the residential zone plus 5 dB. This means that the
maximum spill-over noise level must be within these parameters:
Noise Level (dB)
10 p.m. - 7 a.m.
7 a.m. - 10 p.m.
55 (50 +5)
65 (60 +5)
If baseline noise levels due to traffic on E1 Camino Real already
exceed the above threshold levels, the ambient level becomes the
Noise Level (dB)
3
new L50 standard and the allowable excursions from L50 are adjusted
upward accordingly.
The City's noise ordinance also governs construction activities.
The ordinance limits on-site construction to hours of lesser noise
sensitivity with heavy equipment to operate only between the hours
of 8 a.m. and 8 p.m. on weekdays, 9 a.m. and 8 p.m. on Saturdays,
and 10 a.m. and 6 p.m. on Sundays and holidays. In addition, any
single piece of equipment may not produce a noise level exceeding
90 dB at a distance of 25 .feet. (Section 8.32.050)
Existing Noise Levels
In order to determine existing baseline levels of noise at the
project site, a 24-hour noise measurement was made on June 29-30,
1999. Monitoring was conducted using digital sound level meters
calibrated before and after the measurement. The measurements were
made along E1 Camino Real near the rear of the existing homes on
Camaritas Circle (Low Density Residential zone) near the mobile
homes in the Treasure Island Trailer Court (Planned Commercial
zone), and adjacent to the proposed loading dock for the Costco
(Planned Commercial zone). Table 1 summarizes the project site
noise characteristics at the various monitoring locations from 6
a.m. to 9 p.m. when unloading, sales or other activities would be
occurring at the project site.
Measured L50 noise levels across E1 Camino Real exceed the 65 dB
daytime standard on most hours because of background traffic noise.
The allowable project site noise would thus be adjusted upward to
70 dB (L50) to accommodate the existing background noise. At the
mobile home park interface with the project site, the increased
distance from E1 Camino Real reduces baseline noise conditions.
The allowable daytime noise exposure at the site boundary is 65 dB
(L50). Background conditions are elevated, but not in excess of 65
dB (L50). The City noise standard would apply in its unmodified
form at the boundary with the mobile home park.
For locations closest to the loading dock, the following baseline
L50 noise levels were observed relative to the allowable standard:
10 p.m. - 7 a.m. 60 dB 46-60
7 a.m. - 10 p.m. 65 dB 56-61
4
TABLE 1
PROJECT SITE NOISE IrIONITORING SZJl~II4ARY
June 29-30, 1999
(6 a.m. - 9 p.mm.)
Camaritas/ Loading Treasure
Parameter E1 Camino Dock Area Island'
Energy-Averaged Levels (Leq) 69-75 59-66 54-60
50th Percentile Levels (L50) 64-70 56-61 50-57
Maximum Level (Lmax) 88 83 80
Minimum Level (Lorin) 56 51 48
' - Near the "permanent" park site northeast of Colma Creek.
During the daytime, an adequate margin of safety exists that would
allow for a moderate level of site activity noise without
threatening the standard. At night, there are two noise concerns,
namely:
(1) Noise levels in the middle of the night are low. If there
were any loud sources on the project site, they would be
clearly noticeable even if the 60 dB standard is not exceeded.
(2) Around 6 a.m., background noise levels increase to near the 60
dB nocturnal standard. Site activity noise could cause the
standard to be exceeded during the early morning hours because
it is just marginally met without any project activity noise.
The project vicinity noise readings suggest the following:
(1) Homes west of E1 Camino Real have high background levels that
will mask any site activity noise.
(2) Daytime background noise can probably accommodate project
activities without causing any violation of the City's noise
ordinance standards.
(3) On-site noise could constitute a nuisance if generated during
the middle of the night, and could cause the standard to be
exceeded during the early morning hours.
6
NO = S E =MPACT ANALY S 2 S
Standards of Significance
Community noise problems typically occur at levels that are well
below the threshold for hearing loss. Noise at less than hearing
loss levels, however, may nevertheless create a variety of negative
effects through loss of sleep, interference with communication or
lack of concentration. Noise-induced stress varies from one person
to another and varies even within the same person from one day to
the next. There are therefore no clear-cut limits that
characterize a stress-free noise environment.
The City of South San Francisco has established noise compatibility
standards for various land uses as previously noted. A substantial
increase in off-site noise levels due to project-related changes in
traffic that causes these standards to be exceeded would be
considered a significant impact. Site-related traffic, however, is
rapidly diluted as cars select various preferred access/egress
routes. Arterial roadways near the project site already experience
a high level of vehicular noise that will mask any additional site
traffic noise. Project-related, off-site noise level changes are
only a fractional decibel. Noise analysis methodology is accurate
only to the nearest whole decibel, and most people only notice a
change in the noise environment when pre- and post-project
differences are around 3 dB. Nasking effects of existing traffic
at any off-site receivers possibly affected by increases in
project-related transportation will minimize project
perceptibility.
The dilution of potential noise impacts at increasing distance from
the proposed project suggests that any impact potential will be
concentrated within the immediate vicinity of the site. Site-
related impacts are governed by the municipal noise ordinance. A
potential to violate the ordinance would be considered a
significant impact. Such impacts could derive from commercial
activities, from maintenance and other service functions, or from
vehicle movements in, out and within the parking lot. Such
activities may not necessarily violate numerical standards, but
could be perceived as a nuisance by virtue of time of day, nature
of the activity, or because of isolated single events. Noise
generation late at night such as parking lot sweeping or trash
pick-up could be a nuisance and thus be significant even if
standards are not exceeded.
Temporary noise generation will result during construction
activities to finish grading the site and construct proposed site
improvements. Both the duration and intensity of such noise will
be temporary. Enforcement of time limits on allowable
7
construction, as well as other good construction practice elements,
can usually keep construction noise impacts at less than
significant levels.
NOISE IMPACTS
Facility Construction
Peak noise levels from heavy construction equipment are seen in
Table 2 to be around 90 dB at 50 feet from the source. With normal
spherical spreading losses, the noise exposure decreases at a rate
of 6 dB per doubling of distance. The nearest homes from the
center of the Costco store building pad are around 300 feet away.
Peak construction noise will be 74 dB at the nearest residences.
These are short-term peak levels. Hourly average noise levels will
be 5-10 dB lower.
Given that daytime background levels at the nearest mobile homes
are in the low 60 dB range, the peak construction equipment noise
will be audible above the background. The longer term average
daily noise level will be comparable to the background. Daily
construction activity noise will thus be masked by the background,
but short-term excursions could be clearly audible at the nearest
residences.
At the nearest single family uses across E1 Camino Real, daytime
noise levels are in the upper 60 dB range with peaks into the 80 dB
range. Construction activity noise will be generally less than
background conditions both in terms of averages and peaks. Noise
impacts to the nearest single family uses will be less than
significant during construction.
Construction activities will be limited to hours of lesser noise
sensitivity by the City of South San Francisco Municipal Code.
Heavy equipment operations will occur for only a limited period.
Structural assembly is accomplished with smaller, semi-stationary
equipment that lends itself better to placement behind other
equipment or temporary barriers to reduce noise. Completion of the
building shell will be followed by interior finish construction
with the finished building perimeter walls shielding off-site
receivers. Construction activity noise impacts should therefore be
considered as temporarily perceptible, but at a less-than-
significant level.
8
TABLE 2
TYPICAL COlII~IERCIAL LAND USE
CONSTRUCTION NOISE T.RVRT
Average Maximum
Construction Phase Noise Level {dBAZ Noise Level (dBAI
Ground Clearing 84 91
Excavation 89 98
Foundations 78 88
Erection 83 88
Finishing 79 88
Noise level observed at 50 feet from the source.
Source: Bolt, Berenek, and Newman, 1971, Noise from Construction
Equipment and Operations, Building Equipment, and Home
Appliances, U. S. Environmental Protection Agency.
Site Operations Noise Iapact
Retail and service activities are generally not perceived as major
noise nuisances, but do sometimes have site-specific noise
generation activities that could be audibly intrusive or annoying
at the residential development north or west of the site. Such
intrusion may result both from the nature of the noise (motors,
compressors, blowers, metal banging on metal, etc. ) as well as from
the time at which it occurs.
In order to quantify the typical range of noise activity levels at
the rear of a high volume retail sales activity, several noise
impact studies had been conducted at shopping centers with truck
receiving via semi-trailers, plus multiple smaller jobbers
delivering specialty products in step-vans or mid-size delivery
trucks. Measurements were made at the rear of a grocery store, but
truck traffic from multiple facilities passed the monitoring site.
The measurement data at 30 feet from the rear of the store, with an
open, unenclosed unloading dock, were as follows:
Parameter
Noise Level
(~~A~ )
24-hour CNEL
Range of L50 Levels
Noisiest 1-Sec. Peak
Time of Maximum Peak
- 65 dB
- 54-58 dB
- 101
- (10-11 a.m.)
The range of measured L50 levels relative to the daytime City of
South San Francisco noise standard of 65 dB are well below this
threshold. Combined effects of the existing L50 background plus
the measurement data would not cause the daytime standard to be
exceeded.
The L50 standard represents semi-continuous noise. Unloading
activities are not semi-continuous, but are usually dominated by
brief intermittent noise with extended periods of minimum noise
generation. This pattern of activity therefore reduces the
potential that the L50 standard is exceeded. If any audibility of
unloading activity were to occur, it would be due to single events.
Single event intrusion potential will be minimized by constraining
activities to times of lesser noise sensitivity.
The receiving area at the Costco store will include a compactor and
baler for waste disposal. These self-contained units are sealed to
10
minimize odors, control flies and other vectors and to prevent
scavenging. They are relatively quiet sources with the electric
motor as the most noticeable noise generator. Measurement data
provided by the Marathon Equipment Company shows noise levels of
75-78 dB at 5 feet from the center of their Model RJ-88SC as a
representative baler/compactor used at most Costco stores.
Compactors operate only for a brief fraction of an hour. Using the
78 dB level reported above, with the compactor operated for 5
minutes in one hour, the hourly noise level (dB LEQ) at the nearest
home would be 36 dB. Such a level would be undetectable to humans
within the elevated noise background that exists at the project
site.
On-site noise generation from mechanical equipment such as heating/
ventilation/air conditioning (HVAC), meat and produce coolers or
frozen food storage systems, could be audible at adjacent
residences under quiet background conditions. With an elevated
arterial traffic noise background, audibility is unlikely. Air
cooled condensers with two units operating are reported by Frigid
Coil/Frick as a typical supplier to have a noise level of 71 dB at
5 feet from the equipment. Multiple simultaneous operation of "N"
units would produce a combined noise level of 71 dB + 10 X LOG (N).
Noise attenuation from the air conditioners will be reduced by the
break in the line of sight from the source to the receiver created
by the roof edge and any parapet. Noise level reduction of 8 dB
has been calculated for similar building geometries from roof edge
shielding. Simultaneous operation of ten units, shielded by the
roof edge, would have a 73 dB reference noise level at 5 feet from
any unit. At the nearest residence, mechanical equipment noise
would be reduced by 36 dB from spherical spreading of sound waves.
At the nearest home, the residual mechanical equipment noise of 37
dB would be inaudible among the near 60 dB traffic noise
background.
The tire center at the Costco store represents another on-site
noise source, especially during lug wrench operation. Tire service
will be accomplished within an open door building with the opening
directed eastward. In order to estimate adjacent residential
exposure, a noise test was conducted for 30 minutes at the Costco
Tire Center in Tustin, California on December 12, 1997. The
measured average noise level at 60 feet from the opening of the
tire changing bay was 59 dB. Only a part of the noise was
attributable to tire operations with auto traffic in/out of the
area passing near the noise meter.
Extrapolation of this measurement to the nearest mobile homes for
direct line-of-sight conditions would produce a reading of 43 dB.
Such a level would be well below the ambient level that already
11
exists in the area. Impacts from tire operations would be less
than significant. While the lug wrench noise might be faintly
audible because of its unique noise character, it will be at levels
well below ambient conditions.
The proposed gas station represents an additional source of
potential noise nuisance. Noise monitoring was conducted near the
Costco service station in Chino Hills. Noise levels were only
marginally higher near the gas station than along identical nearby
locations adjacent to the nearest street (Peyton Drive). The
reference noise level for gas station operation was well below 55
dB Leq at 100 feet from the center of the pump islands. With
additional distance spreading losses due to gas station operations,
the nearest residential noise exposure will be 40 dB or less. Such
levels will be substantially below the existing background.
The gas station will likely open at 6: 30 a.m. in a time period
considered "nocturnal." Gasoline delivery may occur at night, but
such activities are very quiet since the transfer from the tanker
truck to the underground storage tank is via gravity feed. Gas
stations are not major noise generators in the absence of any on-
site automotive repair, car wash or similar activities. Gas
station operation will have no detectable noise implications.
Conclusion
The proposed project will be built in an already elevated ambient
noise environment. Operational activity noise will be generally
inaudible due to the masking effects of the background and the
attenuation loss created by the separation between the site and the
homes.
If commercial retail operations were to ever come into conflict
with adjacent residential development, it would be due to nocturnal
activities. The key to minimizing the potential for such conflicts
at the proposed project is to restrict nocturnal maintenance
activities such as trash pick-up or parking lot sweeping to daytime
hours.
Nocturnal truck traffic from the northern site entrance could also
be audible at the nearest residences (the travel trailers) because
of high r.p.m. engines in low gears. This effect would be
accentuated by reflection from the building wall. Limits on truck
use of the northern entrance during the night, including a
prohibition on idling trucks along the northern driveway, is also
an appropriate condition to minimize any nuisance potential.
12
NO 2 S E =MPACT M= T = GAT = ON
Operational activity noise will likely not be audible at the
nearest homes. There are no noise abatement recommendations
necessary during normal-project operating hours.
A perceived nuisance could be created if unusual on-site noise
generation occurred at night when the masking effects of traffic
noise is diminished. The following measures are recommended as use
permit conditions to protect nearby residences from any noise
nuisance:
1. Refuse or recycled cardboard trucks should not collect waste
materials before 7 a.m. on weekdays, 8 a.m. on Saturday, or 9
a.m. on Sunday.
2. Parking lot sweeping should not occur from 10 p.m. to 7 a.m.
3. Heavy-duty trucks should be restricted from using the northern
driveway between 10 p.m. and 7 a.m. , and no engines from idling
trucks or refrigeration units should be left running within the
loading dock area during this time period.
Short-term construction noise intrusion will be limited by
conditions on construction permits requiring compliance with the
South San Francisco Noise Ordinance. The allowed hours of
construction are from 8 a . m . to 8 p . m . on weekdays , 9 a . m . to 8
p.m. on Saturdays, and 10 a.m. to 6 p.m. on Sundays and holidays.
As a practical matter, construction activities would rarely extend
beyond 4 p.m. and would be confined to Monday - Saturday.
13
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Comment Letters
Costco Wholesale Project Final EIR Page 42
Ciry of South San Francisco August 1999
• •
C/CAG
CITY/COUNTY ASSOCIATION OF (,OVERNMENTS
OF SAN MATED COUNTY
FL!af~-~'~R,, Millbrae
Atherton • Belmont ~ Brisbane • Burlingame • Colmo • Daly Ciry • Fast Palo Alto ~ Fostcr City • Half Moon Bay • Hillsborough • Me o a
Pacifica • Portolo Valley • Redwood Ciry • San Bruno • San Carlos ~ San Matco • San Matto County • South San Francisco • Woodsidc
May 19, 1999
Susy Kalkin Comment 3.1
South San Francisco Planning Division
P.O. Box 711
South San Francisco, CA 94083
COSTCO WHOLESALE WAREHOUSE DEVELOPMENT
Dear~Kalkin:
Thank you for the Draft Environmental Impact Report for the Costco Wholesale Warehouse
Development. The report does not indicate the number of pear hour trips that the project will
generate; however, given the size of the development it clearly falls within the guidelines for
review by C/CAG.
The report incorrectly states that the CMP LOS standard for I-280 in the vicinity of this project
is LOS E. The correct LOS standard as stated in the 1997 CMP is LOS D. It also indicates that
the reported LOS for I-280 at this location is LOS F. Appendix G of the 1997 CMP shows that
the reported LOS for 1997 was LOS E. The report correctly notes that with the allowable traffic
exemptions the LOS is A. The report states that the project is adding traffic to a freeway segment
that is already congested, and that the location is close enough to the County border that there will
likely be significant exclusions for interregional traffic. Therefore it concludes that the impact is
insignificant. Although it is likely that the subtraction of the interregional traffic at this location
will avoid the requirement of a deficiency plan, I must point out that this project will contribute
significant traffic to a location that is fast approaching gridlock. This project will move it to that
point quicker. What is particularly alarming is that ~ mitigation measures are proposed to deal
with this freeway traffic. This development if approved should minimally be required to
implement aggressive Transportation Demand Management strategies such as those attached to
this letter.
Appendix 8.3 includes a letter from the City of Daly City that makes a number of points about
the regional transportation impacts of this project and that fact that it is not compatible with the
transit opportunities (bus and BART) in proximity of the development site. It is very important
that jurisdictions take responsibility for the impact of their actions on neighboring communities
and the region as a whole. I encourage you to give serious consideration to the comments made
by Daly City.
3.1.1
L
3.1.2
3.1.3
3.1.4
10 TWIN DOLPHIN DRIVE, SUITE C-200, REDWOOD CITY, CA 94065-1036 PHONE: 415.599.1406 F,vc: 415.637.1589
• •
If you have any questions, please contact Walter Martone at 599-1465.
Sincerely,
Richard apier, Executive Director
cc: Jim Datzman, C/CAG Representative for South San Francisco
Joe Fernekes, C/CAG Alternate Representative for South San Francisco
Michael Wilson, City Manager
•
•
LIST OF PROGRAMS, ACTIONS, AND IMPROVEMENTS FOR
INCLUSION IN DEFICIENCY PLANS
- Improved roadway bicycle facilities and bike paths.
- Transit and bicycle integration.
- Bicycle lockers and racks at park and ride lots.
- Bicycle facilities and showers at developments.
- Improved pedestrian facilities.
- Pedestrian signals.
- Lighting for pedestrian safety.
- Improvement of bus, rail and ferry transit services.
- Expansion of rail transit service.
- Expansion of ferry services.
- Preferential treatment for buses and in-street light rail vehicles.
- Transit information and promotion.
- Transit pricing strategies to encourage ridership and, where
applicable, reduce transit vehicle crowding.
- Transit fare subsidy programs .
- Transit centers.
- Improved and expanded timed transfer programs.
- Improved and expanded fare coordination.
- Signal preemption by transit vehicles.
- Bus stop bulbs.
- School bus transit service.
- Preferential treatment for shared ride vehicles.
- Increased use of commuter/employer services.
- Bus and carpool/buspool/vanpool/taxipool priority lanes on local
arterials.
- High occupancy vehicle lanes on the freeways.
- HOV to HOV facilities.
- Direct HOV lane entrance/exit ramps to arterials and special
generators .
•
- Stricter travel demand management/trip reduction requirements .
- Expanded public education programs.
- Child care facilities at or close to employment sites, transit
centers, and park and ride lots.
- Retail services at or close to employment sites, transit centers and
park and ride lots.
- Telecommuting centers and work-at-home programs.
- Parking management.
- Parking "cash-out" program/travel allowance.
- Land use measures.
- Preferential treatment of HOVs.
- Ramp metering.
- Auxiliary lanes of up to one miles in length where HOV lanes are
provided.
- Signalization improvements.
- Computerized traffic and transit control/management on arterials.
- Turn lanes at intersections.
- Turn restrictions at intersections.
- Reversible lanes.
- One way streets.
- Targeted traffic enforcement programs.
- Restrictions on curb side deliveries and on-street parking.
• •
~`~~ ~ `~
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Hand Delivered
June 11, 1999
Susy Kalkin, Senior Planner
City of South San Francisco Planning Div.
P.O. Box 711
South San Francisco, CA 94083
Comment 3.2
Re: Draft Environmental Impact Report -Costco Wholesale Warehouse
Dear Ms. Kalkin:
Thank you for inviting us to comment on the Draft Costco Wholesale Warehouse Development.
In a review of the document, we request that further information be provided under the following
topics consistent with our letter dated April 6, 1999.
General Items:
• All references to the City of Colma should be changed to Town of Colma.
3.2.1
Pg. 18 Surrounding Uses and Exhibit 5. In our April 6, 1999 letter, we indicated that the 3.2.2
property between Mission Road and Colma Creek is designated for mixed-use development. I
No mention or discussion of this property is found in the DEIR document. Section 5.02.134 of
the draft Colma General Plan is provided for reference. The updated Colma General Plan is
scheduled for adoption on June 16, 1999.
Comments on the Initial Study:
The following items in the initial study were identified as having no impact. After a review of the
project description and draft EIR, we request a discussion of the following areas of potentially
significant impacts:
ll. b. Induce substantial growth in an area either directly or indirectly. The proposed project 3.2.3
will drastically change the character of the area over the previous low intensity use of the site
as a warehouse. The project could cause indirect growth to surrounding properties (including
redevelopment of properties) within the City of South San Francisco, leading to possibly
significant cumulative impacts in traffic, air quality, population and housing. Please expand the
discussion found on pages 58 and 59 to include a discussion of properties in the vicinity which
could develop or redevelop. Please also include a discussion of the vacant property to the
south of the Costco site, identified as vacant in the surrounding use discussion. This
discussion conflicts with the statement in section 6.4 on page 58 describing all properties
surrounding the site as fully developed.
TOWN OF COLMA 1190 EI Camino Real • Colma, California 94014
PLANNING DEPARTMENT Phone: (650) 985-2590 • FAX: (650) 985-2578
• •
Comments on Draft EIR, Costco Development, June 11, 1999 Page 2
X. a, b Increases in existing noise levels and exposure of people to severe noise levels. The
initial study indicates "no impact" with respect to noise, and there is no discussion of noise
issues in the Environmental Impact Report. In addition, this determination is not supported by
any empirical information. The only source given is a communication with appropriate City of
South San Francisco Departments. In our letter of April 6, 1999 we recommended that the
analysis of noise should address both ambient and project related noise, including noise from
additional traffic generation, and commercial activities on the Costco site. Noise impacts
should be the site boundaries with appropriate mitigation for future noise levels exceeding 60
dBA. Please include this analysis in your response to comments.
Transportation and Circulation:
The Town of Colma Public Works Department is in the process of reviewing the traffic information
prepared for the project. They will be able to fax this information to you on Monday June 14,
1999 or Tuesday morning June 15, 1999 as discussed on the phone with Michael Laughlin of our
staff. Please refer back to our April 6, 1999 letter which outlines our concerns. Comments from
the Public Works Department will include, but not be limited to a more complete discussion of the
impacts of the project after the Hickey Boulevard extension, and an increase in the percentage of
fair share costs to mitigate traffic impacts. We anticipate that a substantial number of vehicles will
utilize Hillside Boulevard and Mission Road in South San Francisco and Colma to access the site
after the Hickey Boulevard extension. This may require developer mitigation.
The Colma General Plan anticipates that the property behind the Costco site to the east will be
developed for mixed use, with housing over retail or office. As you can appreciate, the Town of
Colma would like to assure that housing at this site remains a viable option, and that proper
mitigation measures for traffic and noise are included within the Costco Development EIR.
Aesthetics, Light and Glare:
We recommend that the analysis include cross sections through the site and adjacent streets, in
addition to the existing discussion. Please identify the source cited as "other source" in your initial
study which was used as a basis for the discussion. The Town of Colma's primary interest in this
information is to determine visual impacts to the undeveloped property to the east in Colma. One
possible mitigation may be a strong landscape buffer between the Costco project site and the
vacant property in the Town of Colma.
We look forward to receiving your response to comments when it is ready. Please call me or
Michael Laughlin of our staff if you have any questions about the comments in this letter.
S' cerely,
Malcolm C. Carpente , AICP
City Planner
Cc: City Manager
City Attorney
City Engineer
3.2.4
3.2.5
3.2.6
3.2.7
MPL C:colmaUetterslpenerallcoctco.ll2
• •
GENERAL PLAN
Land Use Element (Draft March 1999)
westerly end of Collins Avenue. Commercial
uses should not be expanded easteriy from the
280 Metro Center along Colma Boulevard in
order to protect the cemetery frontages on
Colma Boulevard and the continuity of cemetery
uses along EI Camino Real north and south of
Colma Bouelvard. Service facilities related to
the major automobile dealerships on
Serramonte Boulevard may be included on the
same site with the principal retail use or in
separate facilities located on Collins Avenue or
in one of the two identified Service Commercial
Areas. It is intended that new development in
the Core Commercial Area will include
convenient off-street parking and high quality
landscaping that results in an attractive street
frontage. Signs should be integrated with
building architecture; however, it is recognized
that freestanding signs may be necessary in the
Core Area.
5.02.133 Service Commercial Areas
(Coverage: 50%; FAR: 1.0)
Service commercial uses include auto servicing,
light manufacturing, warehousing, contractors'
supplies and other non-retail uses. Three areas
suitable for the concentration of service
commercial uses include Semamonte Boulevard
east of EI Camino Real, the central portion of
Collins Avenue, and the northerly portion of the
Mission Road District. Service commercial uses
should be contained within a building. No open,
uncovered storage of materials, supplies or
refuse should be permitted and all repair and
manufacturing work must be done inside of a
building qualified to meet building and fire code
standards for such use. Auto repair and
servicing facilities, in particular, should not be
approved unless there is sufficient off-street
parking for each employee, vehicles waiting for
service or repair, repaired or serviced vehicles
waiting for pickup and vehicles stored until
needed parts arrive. It is intended that new
development in the Service Commercial Areas
will include convenient off-street parking and
landscaping that results in an attracctive street
frontage. Signs should be integrated with
building architecture; pole signs should be
discouraged.
In the Mission Road District, some commercial
parcels have frontage on both Mission Road and
EI Camino Real. Access to and from the
segment of EI Camino Real bordering the
Mission Road District is potentially hazardous
because of poor visibility due to the curvature
of the road, relativey high traffic speeds, and a
steep embankment. Access to parcels with
frontage on both EI Camino Real and Mission
Road should be restricted to Mission Road.
Special guidelines and design standards for
development along the Collins Avenue corridor
have been adopted and are covered under a
separate heading. Uses along Collins Avenue
have included auto servicing, light
manufacturing, and contractor's supplies -uses
that are primarily contained in a building and do
not, regularly, draw a large clientele to the site.
Buildings with these service uses may not cover
more than 50% of the site and total floor area
may not exceed 1.0 times the lot area. As
properties along Collins Avenue are
redeveloped, however, new uses that support
the Auto Row function of the Core Commercial
Area should be encouraged. Where a new use
is consistent with those of the Core Commercial
Area, an FAR of 1.5 would apply.
5.02.134 Mixed CommerciallResidential
Areas (Coverage: 75%; FAR: 3.0; Intended
Density: 30 units per net acre)
Mixed commercial and residential uses will be
encouraged in the southerly portion of the
Mission Road District and in the commercial
frontage along Mission Street in the Sterling
Park Planning Area pursuant to Planned
Development Zoning. Both of these locations
are within convenient walking distance of
existing or planned BART stations and bus lines,
helping to minimize reliance on automobile use.
With the development of the new BART stations
near D and Mission Streets, west of Colma, and
adjacent to the Hickey Boulevard extension,
south of Colma, it is expected that surrounding
land values will increase and pressure will be
brought to develop vacant and underutilized
sites more intensively. It is intended that mixed
commercial/residential uses will consist of
pedestrian-oriented retail facilities on the ground
floor with two or more levels of residential or
office uses above. It is the most intensive use
of commercial land in Colma.
New buildings should be set back at least ten
feet from the street curb with the setback area
TOWN OF COLMA W-~o
• • GENERAL PLAN
L Land Use Element (Draft March 1999)
sites will be compatible with nearby, established
land uses. Sites that are close to cemeteries
or residences, for instance, should be restricted
to uses that do not generate traffic or noise and
that are not visually unsightly. Signs, other than
small identification signs, should be
discouraged. Planning and zoning designations
should not be changed to create any new
scattered commercial sites. When opportunities
arise, the outlying commercial uses should be
eliminated and the land use designation
changed for improved compatibility with
surrounding uses.
5.02.136 Commercial Land Use
Develoament Guidelines
It is intended that new bwldings in all commercial
districts, with the exception of established
shopping centers, will incorporate aSpanish/
Mediterranean architectural theme. Exceptions
will be considered if this approach would clash
with existing improvements having recognized
historical or architectural merit.
paved as sidewalk but articulated with planters,
street trees and benches. Pitched roofs should
be used and the front facades should be well
articulated with windows, doors, balconies,
bays, exposed beams, overhangs and similar
features. Appropriate ground floor uses are
listed below:
Baker
Barber Shop
Beauty Salon
Book Store
Butcher Shop
Camera Store
Clothing Store
Coffee Shop
Delicatessen
Dry Cleaner
Florist
Gift Store
Hardware Store
Health Club
Home Furnishings
Office Supplies
Pet Store
Pharmacy
Restaurant
Shoe Sales/Repair
Specialty Foods
Sporting Goods
Toy Store
Vdeo Rentat
5.02.135 Outh-in4 Commercial Areas
(Coverage: 50%; FAR: 1.0)
Outlying commercial uses are scattered across
the Town. Specific policies should be used to
ensure that the types of uses allowed on these
t.u~~ ~ TOWN OF COLMA
/-.~ 4~~,.:~`~ ~ TOWN OF COLMA Engineering & Public Works
~ FLf~1~;~~V'a 1188 El Camino Real Colma, California 94014
~~ /''~ Tel 650-794-2002 Fax 650-794-2009
Comment 3.3
June 14, 1999
Susy Kalkin, Senior Planner
City of South San Francisco, Planning Division
315 Maple Avenue/P.O. Box 711
South San Francisco, CA 94083
Subject: Costco Wholesale Warehouse Development Traffic Impact Study Comments
Deaz Ms. Kalltin:
Based on our review of the traffic impact from the new development, and proposed
contribution for the mitigation of signalization at Mission Boulevard and El Camino
intersection is not in the best interest of the Town of Colma at this time.
Our recommendation for the two options presented A, or B of your new development
project and the recommended mitigation of signalization at Mission Boulevard and EI
Camino Real intersection would be a fair share contribution of 30%. This option would
be in the best interest of The Town of Colma.
If you or the developer would like to discuss further options, the Town would be glad to
discuss them with you.
P.espectfi:lly,
~-
s-'_""_'
Fernando Bravo
Senior Engineer
Cc: City Manager
City Attorney
City Planner
3.3.1
3.3.2
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PLANNnVG
CITY OF DALY CITY
333-90TH STREET
DALY CITY. CA 94015-1895
PHONE: (650) 991-8000
June 11, 1999
Susy Kalkin, Senior Planner
City of South San Francisco
315 Maple Avenue
South San Francisco, CA 94083
Re: Comments on Draft Environmental Impact Report
Proposed Costco Wholesale Wazehouse Development
Dear Ms. Kalkin:
Comment 3.4
Thank you for giving the City of Daly City the opportunity to comment on the DEIR for the
proposed Costco Wholesale Warehouse Development project at 1600 El Camino Real in South
San Francisco. The comments on the DEIR and project are as follows:
Traffic and Circulation
In general, Daly City staff s review found that the Transportation and Circulation sections did
not adequately address the project's impacts on Daly City roadways and intersections. The City
of Daly City has the following traffic and circulation comments regazding the proposed Costco:
1. The intersections of Hickey Boulevazd/Gellert Boulevazd and Serramonte Boulevazd/ 3.4.1
Junipero Serra Boulevazd should be included in the analysis.
2. The proposed development should comply with the 1995 San Mateo County Congestion 3,4.2
,'Management Program, which bases intersection level of service definitions on critical
volume to capacity ratio. As some intersection levels of service aze not consistent with CMP
requirements, it appears that the Draft EIR used a different parameter (such as Average
Delay) to detenmine intersection levels of service. The EIR should outline why different
pazameters were chosen, and how each intersection complies with the CMP intersection level
of service definitions.
3. When determining intersection levels of service using the CMP method, both Hickey 3.4.3
Boulevazd/I-280 intersections show worse levels of service than reported in the Draft EIR.
4. The Draft EIR states that the CMP level of service standazd for I-280 from Hickey Boulevazd 3.4.4
to Westborough Boulevazd is LOS "E". The 1995 CMP defines the level of service standard
for this segment as LOS "D".
.1
Comments on DEIR Page 2
Proposed Costco Wholesale Warehouse Development June 11,1999
5. It is uncleaz whether the Draft EIR is addressing the AM or PM peak period? This should be
clarified. An analysis of weekend peak conditions should also be included.
6. The Draft EIR should expand its discussion regazding background traffic. The text mentions
a number of new residential projects in the azea, but there is minimal (if any) change in
volume to capacity ratios at the Hickey/I-280 intersections. As the Draft EIR states Hickey
Boulevazd will be the main access route to the azea, it is unlikely that the proposed new
developments will have no effect on the Hickey/I-280 intersections. The project trip
generation and distribution of other approved projects in the azea should be included to show
which roadways aze projected to be used as access routes.
3.4.5
3.4.6
7. How were the Standazds of Significance developed? They do not appear to be consistent 3.4.7
with the 1995 San Mateo County Congestion Management Program. Conformance with the
intersection and roadway level of service standazds set in the San Mateo County CMP is
strongly encouraged.
Although the report indicates that level of service at some intersections remain unchanged, 3.4.8
intersection delay and volume to capacity ratios aze significantly affected. The intersection
level of service is at or neaz its low in many instances.
9. Daly City will require mitigation of any negative impacts at City intersections as a result of 3.4.9
the project traffic generated from the Costco development.
10. Are the Long-Term traffic impacts as outlined in the Draft EIR consistent with similaz 3.4.10
projections completed for other projects in the azea, specifically the proposed BART station?
This question should be addressed in FEIR.
11. Intersection analysis, including level of service and queuing distance for turn lanes, should be 3.4.11
provided for all intersections within Daly City.
Although some of the above comments may be addressed in the proposed project's full traffic
impact analysis, Daly City requests that they also be included in the EIR.
Regional Land Use Compatibility
Daly City has reviewed the DEIR and believes that regional land use issues were not adequately 3.4.12
discussed. As noted in the City of Daly City's response to comment letter on the DEIR NOP
dated April 14, 1999, Daly City believes the proposed Costco development is incompatible with
the regional transportation opportunities located neaz the development site. Residential land uses
would be better served for the project site than awholesale/bulk goods wazehouse, given the
future location of a South San Francisco BART Station and prevalence of local bus service
within close proximity of the Costco project area. The proposed Costco development does not
support local or regional transit efficiencies for location of both affordable and mixed-use
housing within close proximity of these public transportation facilities.
• •
Comments on DEIIt Page 3
Proposed Costco Wholesale Warehouse Development June 11,1999
The Land Use & Planning Section (Section 4.2 -Pg.'s 18-22) of the DEIR outlines that the 3.4.13
proposed Costco use is consistent with the goals, policies, and objectives of the City of South
San Francisco General Plan. There is no discussion about compatibility with the 1995
Congestion Management Plan. In addition, in the Alternatives to the Proposed Project Section
(Section 5.0 -Pg.'s 53-56), there is aMulti-Family Residential Altennative presented but again
no discussion of compatibility with the CMP.
The FEIR must address the land use compatibility of the proposed Costco development given the
public transit efficiency within the azea. In addition, the City of Daly City requests a written
response from South San Francisco that the County of San Mateo has reviewed and accepted the
FEIR in reference to CMP compliance for the proposed Costco development.
Noise
Daly City has reviewed the DEIR and found that the project's noise impacts have not been 3.4.14
adequately addressed. The Initial Study attached to the EIR discusses noise issues (Page 25) but
does not provide any mitigation measures. There aze two schools, Alta Loma and El Camino
High School, as well as residentially zoned land and existing residential uses in close proximity
to the project site. Noise mitigation measures for both the short-term construction and long-term
operation of the project must be included as part of the FEIR.
Request for FEIR Copies
We would like to receive four (4) copies of the FEIR. Please direct the copies to the attention of
Cazlos de Melo, Associate Planner, Daly City Planning Division.
If you have any questions or require any additional information, please contact me at 991-8033.
Sincerely,
Cazlos de Melo
Associate Planner
cc: John C. Martin, City Manager
Terry Sedik, Director, Economic & Community Development Department
Richazd Berger, Assistant Director, Economic & Community Development Department
Al Savay, Senior Planner
Attachments
Attachment A - CMP Traffic Level of Service Standazds
,~
` • •
3.
Traffic Level of Service Standards
Legislative Requirements
California Government Code Sections 65089.1 (A) and (B) requires that level of service
standards be established by, in this case, CCAG for the roadways and intersections
designated to be in the CMP Roadway System. Furthermore, roadway levels of service
(LOS) are to be measured by methods described in one of the following documents: the
Transportation Research Board's Circular 212, the latest version of the Highway
Capacity Manual, or an uniform methodology adopted by the CMA that is consistent
with the highway Capacity Manual. The CMA (CCAG in San Mateo) is responsible for
selecting the LOS methodology to be used.
The CMP legislation stipulates that the CMP's Level of Service Standards can be set
at any level of service-A through F. However, only roadway segments or intersections
currently operating at Level of Service F may have an LOS F standard set for them.
Discussion
Level of service (LOS) is a qualitative term used to describe a roadway's operating
condition. The level of service of a road or street is designated by a letter grade
ranging from A to F, with LOS A representing free-flow conditions with little or no
delay and LOS F representing forced flow with excessive delays. Verbal descriptions of
the levels of service for the five types of facilities in San Mateo County's CMP Road-
way System-freeways, multilane highways, two-lane highways, arterials, and
intersections-are presented in Table 3-1. Graphical illustrations of the LOS designa-
tions are presented on Figure 3-1.
Barton-Aschman Associates, -nc. ATTACI"iMENT A 3-1
,~ • •
Traffic Level o/ Service Standards
Arterials
Intersections
Free-flow conditions with a high level of Free-flow conditions with insignificant
maneuverability. Minimal stopped delays at delays. No approach phase is fully
signalized intersections. utilized by traffic and no vehicle waits
longer than one red indication.
Reasonably unimpeded operations with Stable operations with minimal delays.
slightly restricted maneuverability. Stopped An occasional approach phase is fully
delays are not bothersome. utilized. Many drivers begin to feel
somewhat restricted within platoons of
vehicles.
Stable operations with somewhat more re- Stable operations with acceptable
strictions in making mid-block lane changes delays. Major approach phase may
than LOS B. Motorists will experience ap- become fully utilized. Most drivers feel
preciable tension while driving. somewhat restricted.
Approaching unstable operations where
small increases in volume produce sub-
stantial increases in delay and decreases in
speed.
Approaching unstable conditions. De-
lays are tolerable. Drivers may have to
wait through more than one red signal
indication. Queues may develop but
dissipate rapidly, without excessive
delay.
Unstable operations with sign'rficant inter- Unstable operations with significant de-
section approach delays and low average lays. Volumes at or near capacity.
speeds. Vehicles may have to wait through
several signal cycles. Long queues
form upstream from intersection.
Operations with extremely.low speeds Forced-flow operations with excessive
caused by intersection congestion, volumes delays. Represents jammed conditions.
exceeding capacity, and extensive delays. Intersection operates below capacity
with low volumes. Oueues may block
upstream intersections.
Barton-Aschman Associates, Inc. 3-3
•
Traffic Level of Service Standards
The purpose of setting LOS standards is to evaluate changes in congestion. Congestion
is to be measured on the designated system of CMP roadways via level of service
calculations. Existing levels of service are to be calculated every two years as part of
the CMP's traffic operations monitoring program. (The results of the monitoring of
existing levels of service in 1995 for the CMP roadway segments and intersections are
presented in Appendix H.) Future (or anticipated) levels of service are expected to be
calculated as part of the program to evaluate the impacts of planned (or anticipated)
land use changes.'b
The methods used in this CMP to analyze existing and future levels of service on the
CMP Roadway System were selected after reviewing the methods used by local
jurisdictions and Caltrans. A survey conducted in 1991 revealed that most of the cities
that responded used standard level of service methods for signalized intersections with
half using the 1985 Highway Capacity Manual method and half using the Transporta-
tion Research Board's Circular 212 method. About a third of the responding cities used
a reserve capacity method to evaluate unsignalized intersections. The volume-to-
capacity method was used to evaluate arterials in half of the responding cities. Most
cities indicated that they did not use a standard level of service calculation method for
the remaining facilities-freeways, multilane highways. and two-lane highways. Of
those cities that had previously selected a method, the volume-to-capacity ratio
method was preferred. Caltrans uses a floating car method to determine travel speeds
as a measure of congestion on freeways.
The methods selected to calculate the levels of service are described in Appendix B.
These methods are consistent with the Transportation Research Board's Circular 212
and the latest version (1994) of the Highway Capacity Manual, as required by the
CMP legislation.
When monitoring conformance with this CMP's recommendations, asignificant
increase in congestion is defined as a change in the measured level of service to any
level worse than the specified LOS standard. Therefore, nonattainment of the CMP's
Roadway LOS Standards would occur whenever the LOS for a roadway segment or
intersection included in the CMP Roadway System is monitored as falling below the
LOS standard established for that roadway facility. With one exception, this would
occur regardless of the LOS standard set by CCAG for a roadway. The exception would
be that for a roadway where the standard.was set to be LOS F, further decreases in
their LOS would not be measured as falling below this CMP's standards.
Projected violations of the LOS standards may be identified as a result of the Land
Use Impact Analysis Program. These projected violations will not trigger preparation
of deficiency plans.
16See Chapter 6 for further discussion of the program that will analyze the potential countywide impacts
of land use changes on San Mateo County's transportation system.
Barton-Aschman Associates, Inc. 3-5
•
Traffic level of Service Standards
5. Future volumes (for the year 2000) were projected by applying growth factors ob-
tained by comparing the Metropolitan Transportation Commission's (MTC's)
(simulated) traffic assignments for the years 1987 and 2000. (The traffic volumes
simulated by MTC to represent traffic conditions presumed to exist in 1987 were
very similar to actual counts recorded in 1990 and 1991.)
6. Locations projected to have changes in capacity, due to roadway widening projects,
were identified. Future V/C ratios (projected for the year 2000) and corresponding
LOSS were evaluated for the AM and PM peak hours selected earlier.
Roadway Segment level of Service Standards
The following LOS standards were selected for the roadway segments.
a. If the existing (1990/91) level of service was F, then the standard was set to be
LOS F.
b. If the existing or future level of service was or will be E, then the standard was
set to be LOS E.
c. The standard for roadway segments near the San Francisco, Santa Clara, and
Alameda County borders, with one exception's was set to be LOS E to be consis-
tent with the recommendations in those counties' 1991 CMPs. (This standard
would apply unless those roadway segments were already operating at LOS F.)
d. On SR 82 (El Camino Real), the standard was set to be LOS E.
e. For the remaining roadway segments, the standard was set to be one letter
designation worse than the LOS projected for the year 2000.
The LOS standards adopted by CCAG for the roadway segments included in this CMP
are presented in Table 3-2 and on Figure 3-2.
The roadway segment Level of Service Standards adopted by the CCAG to monitor
attainment of the CMP support the following objectives:
1. The LOS Standards established for San Mateo County vary by roadway segment.
By adopting LOS standards based on geographic differences, the CCAG signaled
that it intends to use the CMP process to prevent future congestion levels in
San Mateo County from getting worse than currently anticipated. At the -same
time, the variations in LOS standards by geographic area conform to current land
use plans and development differences between the Coastside and Bayside,
16F'or I-280 south of SR 84, the adopted standard is LOS D.
3-7
Barton-Aschman Associates, Inc.
r ~, • •
Traffic Level of Service Standards
Table 3-2
Level of Service Standards for CMP Roadway Segments°
(Continued)
Baseline
Roadway (1990-91) LOS
Route Segment LOS Standard
101 San Francisco County Line to I-380 E E
101 I-380 to Millbrae Avenue D
D E
E
101 Millbrae Avenue to Broadway E
101 Broadway to Peninsula Avenue E F
101 Peninsula Avenue to SR 92 F E
101 SR 92 to Whipple Avenue D
F F
101 Whipple Avenue to Santa Clara County Line
109 Kavanaugh Drive to SR 84 (Bayfront Expressway) E E
114 U.S. 101 to SR 84 (Baytront Expressway) D E
28p San Francisco County Line to SR 1 (north) N
2gp
SR 1 (north) to SR 1 (south) D E
D
2g0 SR 1 (south) to San Bruno Avenue C D
280 San Bruno Avenue to SR 92 C
C D
280 SR 92 to SR 84 C D
280 SR 84 to Santa Clara County Line
380 I-280 to U.S. 101 F
A F
C
380 U.S. 101 to Airport Access Road
Mission Street San Francisco County Line to SR 82 A E
Geneva Avenue San Francisco County Line to Bayshore Boulevard A E
Bayshore Boulevard San Francisco County Line to Geneva Avenue A E
' Levels of Service •calculated based on volume-to-capacity ratios.
° The LOS Standard has been changed from LOS E to LOS F based on t he evaluati on of
additional traffic count data.
3-9
Barton-Aschman Associates, Inc.
;~ ,, • •
Traffic Level of Service Standards
between older downtowns near CalTrain stations and other areas of San Mateo
County.
2. The standards established the direction for subsequent CMPs. With the adoption
of those standards, the CCAG started the technical and political processes of re-
specting small area or city-based differentiations, while requiring that information
on operating conditions be collected throughout San Mateo County to monitor
changes in levels of service on roadways considered to be of importance to more
than one jurisdiction.
3. The standards created the initial linkage between planned or anticipated land use
changes and the analysis of the impacts that those. changes would be projected to
have on San Mateo County's roadway system. (Additional discussion of the Land
Use Impact Analysis Program is presented in Chapter 6.)
Intersection Level of Service Standards
Sixteen intersections were added to the CMP Roadway System first adopted in 1991.
A process similar to the process used to develop the standards for the roadway
segments was used to develop the standards for the intersections.
As with the CMP's roadway segments, intersection levels of service were calculated by
using volume-to-capacity ratios. The Transportation Research Board's Circular 212
Planning method was used, and capacity adjustments were made to reflect traffic
operations in San Mateo County. The method used to calculate intersection levels of
service is described in detail in Appendix B.
The following process was used to develop the level of service standards for intersec-
tions:
1. Existing (1993) peak-hour intersection turning-movement volumes were obtained
from manual counts conducted during the morning commute period (7:00 AM to
9:00 AM) and the evening commute period (4:00 PM to 6:00 PM).
2. Existing volume-to-capacity ratios were calculated and levels of service were
evaluated for the AM and PM peak hours.
3. Future intersection volumes were projected by applying growth factors obtained by
comparing MTC's traffic assignments for roadway segments adjacent to each
intersection for the years 1987 and 2000.
4. Future (year 2000) V/Cs were calculated and LOSS were evaluated for the AM and
PM peak hours.
5. Intersection Level of Service Standards were selected based on the following
considerations:
Barton-Aschman Associates, Inc. 3-~~
• •
Traffic Level of Service Standards
Table 3-3
Intersection Level of Service Standards (Continued)
Baseline
Peak (1993) LOS
Intersection Hour LOS Standard
EI Camino Real (SR 82)/ AM A
A E
Park-Peninsula Avenue PM
Geneva Avenue/Bayshore Boulevard AM A E
EI Camino Real (SR 82)/Ralston Avenue PM C
EI Camino Real (SR 82)Molly Street AM A
B E
PM
EI Camino Real (SR 82)/Whipple Avenue AM A E
PM B
Bayfront Expressway (SR 84)/ AM D
F F
University Avenue (SR 109) PM
Bayfront Expressway (SR 84)/ AM F
C F
Willow Road (SR 114) PM
Bayfront Expressway (SR 84)/Marsh Road AM E F
PM F
Woodside Road (SR 84)/Middlefield Road AM D E
PM E
SR 92/SR 1 AM B
A E
PM
SR 92/Main Street AM F
D F
PM
level of Service Standards and Monitoring the CMP
The LOS standards presented in this CMP are all based on analyzing existing traffic
counts or projections of local and regional traffic. That is, the calculations of existing
and projected weekday levels of service do not exclude some types of trips, such as
those associated with interregional travel or low-income housing. For purposes of
determining deficiencies, however, as required by law, the impacts of the following will
be excluded: (1) interregional travel, (2) construction, rehabilitation, or maintenance of
3-13
Barton-Aschman Associates, Inc.
t •' ~ f • •
Appendix B-Traf/k Level o/ Servke Cakulation Methods
Signalized Intersections
The TRB Circular 212 Planning method is the selected level of service calculation
method for the designated intersections in the San Mateo County's CMP Roadway
System. A signalized intersection's level of service, according to the method described
in TR.B Circular 212, is based on dividing the sum of the critical volumes by the
intersection's capacity. This calculation yields the volume-to-capacity ratio N/C). The
critical movements are the combinations of through movements plus right-turn
movements if there is no exclusive right-turn lane, and opposing left-turn movements
that represent the highest per-lane volumes. Descriptions of levels of service for
signalized intersections, together with their corresponding V/Cs, are presented in
Table B-6.
Table B-6
Intersection Level of Service Definitions
Level of V/C Ratio
Service Interpretation
q Uncongested operations; all queues clear in a single Less Than 0.60
signal cycle.
g Very light congestion; an occasional approach phase 0.60 to 0.69
is fully utilized.
C Light congeston; occasional backups on critical ap- 0.70 to 0.79
proaches.
p Significant congestion on critical approaches, but o.80 to 0.89
intersectron functwnal. Cars required to wait through
more than one cycle during short peaks. No bng-
standing queues formed.
E Severe congestan with some bng•standing queues 0.90 to 0.99
on critical approaches. Blockage of intersection may
occur if traffic signal does not provide for protected
turning movements. Traffic queue may block nearby
intersections(s) stream of critical approach(es).
F Total breakdown, stop-and-go operation. 1.00 and Greater
Barton-Aschman Associates, Inc.
8-10
k
• •
Appendix B-Traffic Level of Service Calculation Methods
In the TRB Circular 212 method, the capacity of an intersection is based on an
average saturation flow rate and percent lost time. The saturation flow rate is the
maximum number of vehicles per lane that can pass a fixed point in one hour with
100 percent green time. The average saturation flow rate ml Thelost time is the time
County is 1,980 vehicles per hour of green per lane (vphpgp ).
when vehicles are not entering the intersection due to changeThe average percent lost
Percent lost time is the lost time divided by the cycle length.
time measured in San Mateo County for intersections with four or more phases is 12
percent. The intersection capacities, based oa San Matehaseuna~ presented ~ ahzed
intersections with two, three, and four or more signal p
Table B-7. These capacities are used with the Circular 212 Planning method to
evaluate the levels of service for San Mateo County's CMP intersections.
Table B-7
Intersection Capacities
Number of Capacity
Signal Phases (in vph)
2 1,850
3 1,760
1,700
4 or more
8-11
Barton-Aschman Associates, Inc.
HENN & ETZEL ~N~.
A T T O R N E Y S A T L A W
FOUR EMBARCADEAO
CENTER. SUITE SIO
SAN FRANCISCO. G 94111.4151
TELEPHONE: (415) 392-4600
FACSIMILE: (415)392-2939
June 15, 1999
VIA: Telecopier (650-829-6639) and U.S. Mail
Planning Division
City of South San Francisco
Post Office Box 711
315 Maple Avenue
South San Francisco, CA 94083
ATTN: Susy Kalkin, Senior Planner
k : t..; ,.,..;
.:;::. ..
FREDERICK M. ETZEL
DIRER DIAL NUMBER
(415) 732-5698
Comment 4.1
RE: Comments on Draft Environmental Impact Report,
COSTCO Wholesale Warehouse Facility Project
Dear Ms. Kalkin:
This office represents Xtra Oil Company, the owner and operator of
the Shell Gas Station located at the intersection of El Camino Real and
Hickey Boulevard. Our client has been serving the residents of South San
Francisco since 1969. This letter presents our client's comments on the
Draft Environmental Impact Report (Draft EIR or DEIR) for the COSTCO
Wholesale Warehouse Facility Project,' which includes among other uses a
gas station with 8 pumps providing 16 individual gasoline fueling positions.
I One of the inadequacies of the DEIR is that it unfortunately selected a title for the project that is
misleading. In the Project Description included in the application submitted by COSTCO, the project is
identified as a 220,000 S.F. commercial center containing a 147,000 S.F. wholesale store, a COSTCO gas
station facility containing 4 pumps with 16 fueling positions, a 60,000 S.F. supermarket, an 8,000 S.F. sit
down restaurant and 5,000 S.F. of other general retail. Amore descriptive title would be "COSTCO
220,000 S.F. Commercial Center."
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Our client understands the City's desire to approve land uses that will
generate additional sales tax revenue for the City and he does not object to
the COSTCO Wholesale Warehouse Facility and the related retail uses. He
does, however, strongly object to the inclusion of the 8-pump gas station in
the COSTCO Project.
Attached to my letter and incorporated by reference are letters
prepared by Daniel T. Smith, P.E., Smith Engineering & Management, and
Robert E. Gils, CIH, RGA Environmental Inc., commenting respectively on
the traffic and air quality impact analyses of the Draft EIR.
Based on the comments presented below and those in the attached
letters, the evidence is overwhelming that the Draft EIR does not meet the
standard of adequacy established by the California Environmental Quality
Act (CEQA). In order to discharge its duty under CEQA, the City must
revise the Draft EIR to correct its inadequacies and recirculate the revised
Draft EIR for public review and comment before the Planning Commission
may certify it. But first, as I explain below, the City must adopt
Conservation and Safety Elements for its General Plan, amend the land use
designation for the El Camino Corridor to replace the transit oriented
residential designation with a commercial retail designation and amend the
P-C-L zoning classification to permit multi-use commercial centers.
Comment 1: The DEIR is inadequate because the South San Francisco 4.1.1
General Plan is missing two of the seven mandatory elements -Safety and
Conservation -and these elements have an essential nexus to the analysis of
the Project's impacts in the DEIR.
Before the City may revise the DEIR, it must first correct several
fundamental flaws within its planing and regulatory framework, including
the omission of the mandatory Conservation and Safety Elements in its
General Plan. As noted in Cumin's California Land Use and Planning Law,
1999 at page 18:
Environmental review of a land use proposal is also hamstrung by the
legal inadequacy of a general plan. If a general plan lacks a
mandatory element, an environmental impact report (EIR) on a project
is "prepared in a vacuum." On this point, a court opinion stated: "The
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lack of a noise element in the general plan resulted in a subversion of
CEQA, because a necessary foundation as to the level of acceptable
noise made the EIR deficient." Guardians of Turlock's Integrity v.
City Council, 149 Cal. App. 3d 584 (1983).
Similarly, the absence of Conservation and Safety Elements in its
General Plan "hamstring" the City's ability to certify a legally adequate EIR
for the COSTCO Project. The California Planning and Zoning Law requires
California cities and counties to "adopt a comprehensive, long-term general
plan for the physical development of the county or city" 2 containing seven
mandatory elements.3 There is no requirement that a jurisdiction's general
plan consist of seven separate elements, and a jurisdiction may choose to
consolidate elements so long as all relevant statutory issues are addressed.
Kings County Farm Bureau v. City of Hanford (1990) 221 Ca1.App.3d 692.
I requested the Planning Department to provide me with a copy of the South
San Francisco General Plan and the document provided to me did not
contain elements identified as Conservation and Safety. Upon my review, it
does not appear that the five separate elements provided to me address the
relevant statutory issues for these two elements. I therefore conclude that
the City's General Plan does not contain the Conservation and Safety
Elements.
As required by Government Code Section 65302(d) the City's
General Plan must contain:
"A conservation element for the conservation, development, and
utilization of natural resources including water and its hydraulic
force, forests, soils, rivers and other waters, harbors, fisheries,
wildlife, minerals, and other natural resources."
The DIER contains no discussion of the impacts of the Project on
natural resources present within the City. The DEIR at page 4 lists
environmental topics deemed not to have a potential for significant
environmental impacts that were therefore not addressed in the DEIR.
Among the excluded topics are Water and Hydrology, Energy and Mineral
Resources and Biological Resources.
Z California Government Code Section 65300.
s j~. at Section 65302.
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Each of these three topic areas is addressed by the mandatory
Conservation Element. The failure of the South San Francisco General Plan
to include a Conservation Element means the City totally lacks the basic
factual information, standards and criteria, goals and policies typically found
in a general plan element that would have enabled it to reach a reasoned and
informed decision to exclude these topic areas from the DEIR. Lacking a
Conservation Element, the City was forced to rely on unsubstantiated,
conclusory statements, such as that found at page 4 of the DEIR: "The
project site is not believed to contain rare, threatened or endangered plant or
animal species." For another example, there is no analysis in the DEIR
regarding the impact of the Project on Colma Creek which, as shown in
Exhibit 5 of the DEIR, runs along the northeast side of the Project. The fact
is, no attempt is made by the DEIR to present any information on the
potential impact of the Project on rare, threatened or endangered plant or
animal species or waters in the vicinity of the Project. Without question,
"there [is] a nexus between the" analysis of the Project in the DEIR "and the
elements or characteristics of the [South San Francisco General] plan
claimed to be inadequate." Garat v. City of Riverside (1991) 2 Ca1.App.4`h
259, 291.
As required by Government Code Section 65302(g), the City's
General Plan must contain:
"A safety element for the protection of the community from any
unreasonable risks associated with the effects of seismically induced
surface rupture, ground shaking, ground failure, tsunami, seiche, and
dam failure; slope instability leading to mudslides and landslides;
subsidence, liquefaction and other seismic hazards identified
pursuant to Chapter 7.8 (commencing with Section 2690) of the
Public Resources Code, and other geologic hazards known to the
legislative body; flooding; and wild land and urban fires. The safety
element shall include mapping of known seismic and other geologic
hazards. It shall also address evacuation routes, peakload water
supply requirements, and minimum road widths and clearances
around structures, as those items relate to identified fire and geologic
hazards.
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Once again, "there [is] a nexus between the" analysis of the Project in
the DEIR "and the elements or characteristics of the [South San Francisco
General] plan claimed to be inadequate." Garat v. City of Riverside (1991) 2
Ca1.App.4th 259, 291. The failure of the South San Francisco General Plan
to include a Safety Element means the City is totally without the basic
factual information, standards and criteria, goals and policies found in a
general plan element that would have enabled it to meaningfully and
comprehensively analyze the life safety impacts of the proposed Project
relative to the thousands of visitors it will have during a typical week.
Lacking a Safety Element, the discussion of life safety issues in the DEIR is
limited only to a cursory 2 and'/z page discussion of Earth and Geotechnical
issues, an inadequate analysis of air quality impacts (see Robert E. Gils,
CIH, RGA Environmental Inc.), and a sketchy 1 and'/z page discussion of
Hazardous Materials.
The California Planning and Zoning Law also requires that the general
plan and its associated elements com~rise an integrated, internally consistent
and compatible statement of polices. The "internal consistency
requirement" is extremely important to the overall integrity of a general plan
because of the comprehensive interrelationships among its seven elements.
The interrelationships among the elements of the general plan are stressed in
Chapter 3 -The Required Elements of the General Plan in the 1998 General
Plan Guidelines. Thus, the fact the South San Francisco General Plan is
missing two of the mandatory seven elements also weakens and impairs the
strength of the remaining five elements because their interrelationships with
the missing two elements were simply not considered.
In sum, before the City may revise, recirculate and ultimately certify
the DEIR, it must first adopt Conservation and Safety Elements and ensure
that all seven of its General Plan elements are integrated and internally
consistent.
Co ment 2• While the defects in the Citv's lanni g and reg~lat~ 4.1.2
framework have significant implications for its ability to ~
Pnvironmental review documents that complX with CEOA. these defects
`Government Code Section 65300.5.
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have even Q-1-aver consequences for the City's ability to annrove any la_n_d
development permit.
Beyond the detriment to the adequacy of the DEIR, the absence of
two of the seven mandatory elements also prevents the City from validly
approving the Project. The absence of these two mandatory elements would
render the City's decision to approve the Project a legal nullity.s As stated
by the Court of Appeal:
Zoning ordinances are regulations governed by the superior
enactments in the hierarchy of planning laws. Thus, the validity of a
conditional use permit, which is governed by the zoning regulations,
depends (derivatively) on the general plan's conformity with statutory
criteria. Where the adopted general plan lacks elements required by
state law, relevant to the uses sought, the ordinance fails to provide
criteria mandated by such law for the measurement of the propriety of
the uses to be authorized by the permit. These criteria are essential to
evaluation of the proposed uses and the conditions which should be
imposed. Put another way, the scope of authority of the agency to
enact a general plan and zoning ordinances and to apply them is
governed by the requirements of state law. A permit action taken
without compliance with the hierarchy of land use laws is ultra vires
as to any defect implicated by the uses sought by the permit.
Neighborhood Action Group v. County of Calaveras (1984) 156 Cal.
App.3d 1176, 1184.
In order for the City to validly approve the Project, it must correct the
defects in its planning and regulatory framework. This means the City must
adopt a legally adequate general plan, i.e. a plan that is internally consistent
with all seven mandatory elements. As I explain below, the City must then
amend its general plan as it applies to the COSTCO Project site to permit the
development of a multi-use commercial center, and it must amend its zoning
ordinance to bring it into consistency with the General Plan. Only then may
the City consider and possibly approve the COSTCO Project.
s "A pernvt action taken without compliance with the hierarchy of land use laws is ultra vires as to any
defect implicated by the uses sought by the permit." Neighborhood Action Group v. County of Calaveras
(1984) 156 Cal. App.3d 1176, 1184.
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Comment 3: For the Proiect to be aunroved as imposed, the Ci , of South
fan Francisco must amend its General Plan Land Use Designation for 4.1.3
Planning Area l la its RedeveloRment Plan for the El Camino Corridor Area
Proiect and its Zoning District Classification of P-C-L, each as it an lies to
the Project site. The DEIR is inadequate because it fails to disclose the
requirement for these amendments.
The State CEQA Guidelines Section 15125 requires an EIR to
"discuss any inconsistencies between the proposed project and applicable
general plans and regional plans." The Land Use Element of the South San
Francisco General Plan divides the City into eleven planning areas,
including Planning Area No. 11 El Camino Corridor. Planning Area No. 11
comprises two mutually exclusive sets of land use polices -- Subsections A
and B.
Subsection A provides that the "El Camino Real is designated
`Planned Commercial"' and:
The existing General Plan land use designations and policies as
contained in Subsection A shall remain in effect until: a) The City of
South San Francisco receives an agreement or other instrument
acceptable to the City wherein the sponsors of the extension of the
Bay Area Rapid Transit (BART) Station and line through the Planning
Area are irrevocably committed to building said station and line
(between the northerly City limits and South Spruce Avenue) in a
subway AND, b) The sponsors of the BART line extension have all
the funding commitments and approvals necessary to build the station
and line through the City. After such time the General Plan land use
designations and policies specifically related to a transit oriented land
use plan, as set forth for this Planning Area in Subsection B, shall be
in effect. (South San Francisco Land Use, Circulation and
Transportation Elements, pages 5-79 and 5-80.)
Subsection B at Policy B 11-6 states:
The properties located between El Camino Real and the future BART
line north of the Red Arrow Trailer Park should be developed with
transit oriented residential uses at a density of 50 units/acre. Densities
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less than 40 units/acre should not be considered in this area. Mixed
use development with convenience retail is also appropriate,
particularly on the south side of the Hickey Boulevard Extension,
north of the BART station." (South San Francisco Land Use,
Circulation and Transportation Elements, pages 5-88 and 5-89.)
The text following Policy B 11-6 states in reference to the proposed
COSTCO site, also know as the Macy's site, "The Treasure Island Trailer
Park, which provides low cost housing opportunities in the City is
immediately north of the Macy's site, which is designated for transit
oriented residential uses at a density of 50 units/acre with BART in a
subway (Emphasis added)." (Id. at page 5-89.) Figure 28 at page 5-90 of
the Land Use, Circulation and Transportation Elements of the General Plan
shows the proposed COSTCO site designated as residential 50 Units/acre.
The two conditions for the sunset of Subsection A have each occurred.
As to Condition (a), on November 4, 1998, the City and BART entered into
a "Comprehensive Agreement between the San Francisco Bay Area Rapid
Transit District and the City of South San Francisco Relating to the
BART/SFO Extension." As to Condition (b), in July 1997, the Federal
Transit Administration and BART executed a Full Funding Grant
Agreement (FFGA). Attachment 1 -Scope of the Project contained in the
FFGA at page 1 states: "Stations: The South San Francisco (Hickey) Station
would be in subway along the SPTCo railroad right-of--way just south of the
proposed at-grade extension of Hickey Boulevard between Mission Road
and El Camino Real in South San Francisco." The BART/SFO Extension,
including the South San Francisco Station, is under construction and this
station will be "open for business" in December 2001.6
Despite the existence of the Comprehensive Agreement and the Full
Funding Grant Agreement, the DEIR assumes that the Subsection A polices
have not "sunset" and that the El Camino Real is still designated as Planned
Commercial. It is not reasonable for the DEIR to ignore the existence of
these two agreements. Therefore, Subsection B Policy B 11-6 providing
"The properties located between El Camino Real and the future BART line
e Personal communication with Molly McArthur, BART/SFO Extension Project, June 2, 1999.
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north of the Red Arrow Trailer Park should be developed with transit
oriented residential uses at a density of 50 units/acre" is presently effective.
The Redevelopment Plan for the El Camino Corridor Area Project
also designates the Project site as "transit oriented residential uses at
densities of up to 50 units/acre (Redevelopment Plan, p. 4, and Exhibit C -
Project Area Land Use and Circulation Map.)."
The DEIR in its discussion of the Land Use and Planning Impacts of
the Project at pages 18 through 22 must evaluate this inconsistency between
the COSTCO Project and adopted land use policy, i.e. Policy B 11-6 of the
South San Francisco General Plan and the Redevelopment Plan for the El
Camino Comdor Area Project, and acknowledge, under the Standards of
Significance set forth at page 21 of the DEIR, that this is inconsistency is a
significant impact of the Project.
But more importantly, if the City intends to approve the COSTCO
Commercial Center, it must first amend the land use designation for the EI
Camino Corridor to replace the transit oriented residential designation with a
commercial retail designation and amend the P-C-L zoning classification to
permit multi-use commercial centers.
Comment 4: The DEIR apnearc to have hPPn ~nare~ ;r ar eY*rP*rPly
compressed time frame which did not allow fir ad ~ gal tP Coo ing of the 4.1.4
impacts the DEIR should addrecc
Correspondence from the applicant to the City and conversations
with Planning Department staff indicate that the original intention as to
CEQA compliance for the Project was the preparation of a Negative
Declaration. But this plan was abandoned when the air quality analysis
revealed that there would be significant, unavoidable regional air quality
impacts. This information, combined with a review of the Project record,
gives one the impression that the DEIR was prepared in a hasty manner for a
project of this size and complexity. The Notice of Preparation (NOP) is
dated and presumably was published on March 12, 1999, a Friday. As
required by the CEQA Guidelines Section 15082(b) and as stated in the
Mulvaney Partnership letter to S. Kalkin dated November 4, 1998 at page 3.
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NOP, persons responding to the NOP were required to do so within 30 days
of receipt. Assuming persons received the NOP at the earliest on March 15,
the 30 days expired on April 14, 1999. The Notice of Completion, which is
undated, announced the public review period for the DEIR commenced on
April 30, 1999, an interval of only approximately two weeks after the
deadline for responses to the NOP.
Given the extremely short interval between the deadline for comments
on the NOP and the completion of the DEIR, it is not surprising in reviewing
the Project record that the DEIR does not adequately respond to the
comments the City received in response to the NOP. The California
Department of Health Services (DHS), in a memo dated April 14, 1999,
responded to the NOP and recommended that the DEIR "evaluate the
potential impact [of the Project] to nearby existing drinking water wells and
notify the respective water systems of the project." A search of the DEIR
reveals that this comment by DHS was ignored.
In a letter to the City dated March 30, 1999, Pacific Gas and Electric
Company (PG&E) recommended that the DIER "include adequate
evaluation of cumulative impacts to utility systems [and] the utility facilities
needed to serve those developments." PG&E also encowaged the City to
include information about the issue of electric and magnetic fields (EMF) in
the DEIR. A search of the DEIR reveals that these comment by PG&S were
ignored.
The Town of Colma, in a letter to the City dated Apri16, 1999,
expressed concerns regarding the Project's noise and traffic impacts on
future housing development located to the east of the Project site. Colma
asked "Noise impacts should be projected from the project boundaries with
appropriate mitigation for future noise levels exceeding 60 dBA." The
entire noise analysis in the DEIR consists of the following statement at .page
4: "Although incremental increases in levels of short-term noise would be
created by construction of the project, adherence to existing City noise
regulations (Chapter 8.32 of the Municipal Code), which includes limitations
on hours of construction, will reduce noise to less-than-significant levels."
In other words, the DEIR ignored Colma's request and focused only on
construction noise.
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Colma also expressed particular interest in aesthetics, light and glare,
recommending that the DEIR impact "analysis include cross sections
through the site and adjacent streets with a discussion of any affects on
scenic views." The DEIR ignores this request by Colma to an extent which
suggests that the author of the DEIR never reviewed the Colma letter. There
is essentially no analysis in the DEIR of the aesthetics, light and glare
impacts of the Project, but merely four conclusory statements wholly
unsupported by facts set forth on half a page at page 51 of the DEIR.
In a three-page letter dated April 14, 1999, Daly City responded to the
NOP. The best evidence of the failure of the DEIR to address the various
concerns raised by Daly City is evidenced by a letter from the South San
Francisco Planning staff dated May 10, 1999 to the author of the Daly City
letter. I quote:
"It has recently come to my attention that the City of Daly City is
concerned that its comments have not been addressed in the draft EIR.
While City staff and our EIR consultant have tried to provide a
thorough and complete document, due to time constraints the issues
may not have been addressed in as thorough a fashion as desired.
We welcome your continued participation in the environmental
review process and assure [youJ that these and any other issues you
may have with the Draft EIR will be fully responded to in the final
EIR (Emphasis added.)." S. Kalkin letter to Carlos de Melo dated
May 10, 1999.
In order for the City to adequately discharge its statutory duty under
CEQA, it cannot let artificial and external "time constraints" impede the
discharge of its statutory duty to "Inform governmental decision-makers and
the public about the potential, significant environmental effects of proposed
activities" and "Prevent significant, avoidable damage to the environment by
requiring changes in projects through the use of alternatives or mitigation
measures when the governmental agency finds the changes to be feasible."
State CEQA Guidelines Section 15002(a)(1) and (03). Nor can the City
attempt to compensate for a shoddy, less than thorough impact analysis in
the Draft EIR by bolstering the Final EIR after the Draft EIR has been
circulated for public review and comment. To do so violates the very
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essence of the Draft EIR as a public disclosure document and violates
CEQA.
The only way the City may remedy it failure to comply with CEQA is
to sincerely and thoughtfully respond to the comments it received on the
NOP by preparing a new Draft EIR that is then recirculated. The record of
the DEIR which I reviewed did not indicate that a public scoping session
related to the DEIR had been held, as is suggested by the State CEQA
Guidelines Section 15083. Although a scoping session is not a requirement
of CEQA, the better practice that is almost universally followed is to notice
and hold a public scoping session prior to preparing an EIR. I would also
request that the City hold such a scoping session prior to its revision of the
Draft EIR.
Comment 5. The DEIR Project 1_~escriptinn is internally incnnSis ent~ does 4.1.5
not include all relevant aspects of the ~j~,, includingreasonahly
foreseeable future activities that are Hart of the ~j~rt, minimizes the
Project's impacts and does not list all of the approvals required by the
Pro, ect.
T'he DEIR project description must be consistent throughout the EIR
in order for the impact analysis to be meaningful and serve as vehicle for
intelligent decision-making. County of Inyo v City of Los Angeles (1977) 71
Ca1.App.3d 185, 197. The DEIR at pages 6 and 11 presents the Project as a
warehouse sales facility with 147,000 gross square feet of floor area, a gas
station with 8self-service gas pumps and 50,000 square feet of retail space
to be built in the future. The DEIR at page 11 also refers to a 60,000 square
foot building with no explanation of its use or function. The Traffic Impact
Analysis at page 15 describes the Project as a 147,000 square feet warehouse
sales facility with 16-pump gas station, plus a 73,000 square feet shopping
center. Finally, the Project Description submitted by the applicant presents
the Froject as a 220,000 square feet commercial center comprising a 147,000
square feet wholesale store, a gas station with 16 fueling positions, a
+60,000 square feet retail building, a 8,000 square feet sit down restaurant
and 5,000 square feet of other general retail. It goes without saying that
when the DEIR is revised and recirculated, it must contain a uniform Project
Description.
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The project description must also include all relevant aspects of the
project, including reasonably foreseeable future activities that are part of the
project. Laurel Heights Improvement Assn v Regents of the Univ. of Cal.
(1988) 476 Ca1.3d 376. The DEIR at Exhibit 4 -- Concept Site Plan in the
DEIR lists the total site area as 26.74 acres, divided among the COSTCO
site area - 15.12 acres, Residual Site I - 4.91 acres and Residual Site Area II
- 6.71 acres. However, Residual Site Area II is not shown on Exhibit 4.
The Concept Master Plan submitted by the applicant does show Residual
Site Area II, as well as the COSTCO site area and Residual Site I, although
the acres for each varies slightly from those shown in Exhibit 4. The Project
Description submitted by the applicant divides the Project into three parcels:
I -- +14.63, II -- ±5.63 and III -- +2.94 acres, which totals 23.2 acres and
leaves 3.5 acres unaccounted for As noted in the applicant's Project
Description, "Parcel III +2.94 acres is expected to contain general retail and
is not part of these entitlements." The applicant's Project Description also
describes Project Phasing, dividing it into Phases I, II and III.
These discrepancies among (a) Exhibit 4 -- Concept Site Plan in the
DEIR, (b) the Concept Master Plan submitted by the applicant, and (c) the
Project Phasing described in the applicant's Project Description raise the
important question of whether the Project Description in the DEIR includes
all relevant aspects of the project, including reasonably foreseeable future
activities that are part of the Project. The DEIR fails to satisfactorily answer
this question. The DEIR must analyze the impacts of the development of the
entire 26.74 acres, including Residual Site Area II, Phases I, II and II and the
3.5 acres. Once again to state the obvious, when the DEIR is revised and
recirculated, it must contain a Project Description setting forth all relevant
aspects of the project, including all reasonably foreseeable future activities
that are part of the Project.
COSTCO has applied to the Bay Area Air Quality Management
District (See Form G-101 dated January 28, 1999) for permission for annual
fuel sales of 15 Million gallons. Assuming a monthly average of 1,250,000
gallons and a 31-day month, an average of 40,323 gallons per day would be
sold. Assuming an average fill-up of 8 gallons, this is an average of 5,040
fill-ups or cars per day. Table 5 of the Rajappan & Meyer Report calculates
daily project trips to be 8,388 and assumes a 70% internal trip rate. 70% of
8,388 is 5,872 trips, in excess of the average of 5,040 fill-ups or cars per
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day. However, assuming the 56% internal trip rate used in the Redwood
City DIER yields 4,697 trips, well below the average of 5,040 fill-ups or
cars per day. In other words, the DIER understates the worst case based on
annual fuel sales of 15 million gallons by usifig an internal trip rate that is
highly questionable. See Comment 3 of the letter prepared by Daniel T.
Smith, P.E., Smith Engineering & Management.
One of the inadequacies of the DEIR is that the Project Description
contains an incomplete listing of the permits and other approvals required to
implement the Project, as required by the State CEQA Guidelines Section
15124(d)(1)(B). The application submitted by COSTCO lists the Approvals
Required as: (1) Conditional Use Permit for (a) off-site alcohol sales and (b)
automotive related services, including tire sales and installation and a gas
station, and (2) a Planned Unit Development (PUD) permit. The DEIR at
page 12 lists under "Specific actions addressed in this Environmental Impact
Report" a Use Permit but without specifying the individual conditionally
permitted uses, and there is no reference to a PUD permit. The Zoning
District Map indicates that the Project site is zoned P-C-L, Planned
Commercial District, maximum density of 30 dwelling units per net acre.
Chapter 20.24 of the City's Zoning Ordinance sets forth the Planned
Commercial District Use Regulations, including Permitted uses and Uses
permitted subject to a use permit. Nowhere in the lists of permitted and
conditionally permitted Commercial Use Types can one find a Use Type
encompassing the 220,000 S.F. multi-use commercial center for which
COSTCO has applied for a permit. While it is possible to find in these lists
each of the component parts of this multi-use commercial center, their
aggregation as proposed by COSTCO is neither permitted nor conditionally
permitted by the P-C-L District.
4.1.6
CEQA requires an EIR to describe a reasonable range of alternatives
to the proposed Project, or its location, that would feasibly attain most of the
Project's objectives. (State CEQA Guidelines Section 15126.6(a).) The
Alternatives Analysis of the DEIR is inadequate, among other reasons,
because it does not contain any analysis but only superficial, conclusory
statements that do not permit the reader to obtain an informed understanding
of the impacts of the Project compared to alternatives.
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The alternatives analysis also fails to analyze an alternative which is
the Project without the gas station. The analysis of aMulti-Family
Residential Alternative with a maximum density of 15 dwelling units per
acre should be replaced with a alternative consistent with the City's' General
Plan Policy B 11-6, that is a Transit Oriented Residential Alternative, no less
than 40 dwelling units per acre. Unlike the Multi-Family Residential
Alternative, the Transit Oriented Residential Alternative would not require
an amendment of the City's General Plan.
The alternatives analysis also fails to identify the "environmentally
superior alternative," as is required by State CEQA Guidelines Section
15126.6(e)(2). Instead, the DIER simply states at page 56 that "Neither of
the other two alternatives, Alternatives 5.2 and 5.3, would result in
environmental impacts significantly lower than the Proposed Project." This
conclusory statement does not constitute identification of the
environmentally superior alternative.
C'nttirttPnt 7 The Miti¢ation Measures Prop~~P~ fnr the Proiect's Impacts 4.1.7
are inadequate. ~
As noted in the attached letter prepared by Daniel T. Smith, P.E.,
Smith Engineering & Management, the "fair share" contributions to fund
traffic mitigations (DEIR, p. 30) are inadequate to mitigate the traffic
impacts of the Project because there is no evidence that the mitigations will
actually result.
The traffic mitigations are also inadequate because there are no
mitigations addressing the interrelationship between traffic and parking
associated with the Project and traffic and parking associated with the South
San Francisco BART Station, projected to open in December, 2001. It
appears that at one time City staff was proposing a parking management
plan in order to deal with future BART and Project traffic, as noted in the
November 4, 19981etter from Mulvanny Partnership Architects, the Project
architects to the Planning Department. A combined traffic and parking
management plan should be required as a Project mitigation measure.
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The hazardous materials mitigation measure listed at page 50 of the
DEIR requires the Project developer to contact the San Mateo County Health
Department for site clearances. Among other reasons, the mitigation is
inadequate because it defers the identification of the actual mitigation
measure to a future time, and there is no evidence presented in the DEIR that
"site clearances" would actually mitigate hazardous materials impacts.
In closing, thank you for the opportunity to comment on the Draft EIR
for the COSTCO Wholesale Warehouse Facility Project. After the City has
adopted Conservation and Safety Elements, amended the land use
designation for the El Camino Corridor to replace the transit oriented
residential designation with a commercial retail designation and amended
the P-C-L zoning classification to permit multi-use commercial centers, we
look forward to the revised and recirculated Draft EIR. Please do not
hesitate to call us if you have any questions or comments concerning this
letter.
Very truly yours,
& ETZEL, / _
'1 /(~ .
~~~
derick M. Etzel
FME:jmj
Attachments:
Letter to Fred Etzel from Smith Engineering & Management
Dated June 10, 1999
Letter to Henn & Etzel from RGA Environmental, Inc.
Dated June 14, 1999
CC: Ted Simas, Xtra Oil Company
xrooolol.ol
21/61/01
SMITH ENGINEERING ~:-~ MANAGEMENT
June 10, 1999
Mr. Fred Etzel
Henn & Etzel
Four Embarcadero Center, Suite 510
San Francisco, CA 94111-4151
Subject: South San Francisco Costco DEIR TratTic Analysis
Dear Mr. Etzel
Comment 4.2
Per your request, I have reviewed the Draft Environmental Impact Report (DEIR) on the
proposed Costco Wholesale Warehouse Facility in South San Francisco. This letter
documents the findings of my review.
QUALIFICATIONS TO PERFORM THIS REVIEW.
I am a registered Civil and traffic engineer in California and have been practicing as a
traffic and transportation engineering consultant in the Bay Area for 31 years. In my
engineering practice I have prepared and reviewed the transportation elements of
numerous environmental documents. I am familiar with the proposed South San
Francisco Costco project site, and have previously performed traffic studies involving
membership retail and warehouse retail operations including Costco.
FINDINGS
The transportation component of the DEIR is inadequate as circulated for a number of
significant reasons. Some of the primary reasons include:
1. The DEIR traffic analysis is deficient because it completely fails to provide any 4.2.1
anal,Xsis of traffic in the am commute peak hour.
The DEIR claims no am peak analysis was performed because the Costco membership
warehouse store, the component of the project generating the largest portion of the trips
overall, would have very little trip generation in the am commute peak period. However,
T K :1 P I 1 (• T K A N ti P l~ k T A T 1 C~ \ \I -~ !~ :~ C; [ ~1 !. '~ T
~3I] Lown• Road. Union Cit~•. CA ~)-1~~- rel: ~10.~8`).9-1~~ ta.~: ~!U.-l3~).~)~-~
the gasoline service station component of the project would generate as many as 476 trips'
in the am peak period. This number of trips could likely have significant traffic impact at
intersections near the project site. These potential impacts and consequentially needed
mitigation have not been evaluated at all in the DEIR. The proponents may azgue that the
pm peak traffic is heavier and defines a worst case condition under CEQA and hence that
an am analysis is unnecessary. Such an argument would fail to account for the fact that
am peak traffic, although sometimes less intense than pm peaks, has different patterns
from the pm peak and tends to require different mitigations. This is why it is normal
practice in CEQA environmental documents to evaluate and mitigate both am as well as
pm peak traffic, except in cases where the project is of a nature that it would generate no
significant am peak traffic. As we have demonstrated above, the project would generate
substantial am peak traffic, sufficient to alter Level-Of-Service conditions at nearby
intersections. Hence, the DEIR is deficient in failing to provide an am peak period traffic
analysis.
2. The base traffic counts for the DEIR may be lower than normal volumes because they 4.2.2
were taken at the hei t of an El Nno wtnter storm season. This would tend to result
in understatement in severity of traffic Level-Of=Service problems the proiect
contributes to and the understatement of mttt¢atton needs.
The DEIR traffic study states that the traffic volume counts that form the basis for the
"existing conditions" analysis were taken between December, 1997 and February, 1998.
The report is unspecific as to actual dates the count data was taken. Because of the
severity of the winter storms during that particulaz period, peak period traffic tended to be
considerably lower than normal on storm days. The problem with this is illustrated in the
case of a recent EIR we examined in which the 1998 base traffic data was collected during
the height of an El Nino storm flood and its aftermath and in which the primazy study azea
was the flooded district. The traffic data collected at that time was completely non-
representative of typical traffic conditions that normally existed in that study azea. Unless
the DEIR provides the specific dates on which all "existing condition" traffic data was
collected, the public has no way to judge whether or not the data presented truly
represents existing conditions and the DEIR is deficient as an information document. If
the counts were indeed taken on significant storm dates, new data must be collected and
the analysis redone.
3. The DEIR's assumptions about internal tripmakin~ are not credible. are inconsistent 4.2.3
with Costco's representations about internal tnpmakuta m tts concurrent proposal for
a as station at its warehouse store in Redwood Cttv and understate the.pro ect's
traffic impacts.
' Based on the DEIR's stated pm peak generation rate for the service station component of the project and
the Institute of Transportation
the ratio of am to pm peak hour service station generation rates per i+eco ~ traffic
Engineers Trip Generation, 6'th Ed. Trip Generation, 6'th Edition is broadly gnu b5'
engineers as the most authoritative source on the traffic-producing characteristics of land uses.
"Internal trips" are trips that call at both the service station and the warehouse store. In
the DEIR, such internal trips are presumed to be accounted for by the warehouse store's
basic trip generation and are discounted from the gross estimated tripmaking. In this
DEIR it is assumed that 70 percent of the cars that purchase gas will carry people who
also shop at the warehouse store before or after fiaeling.2 No specific data substantiating
the 70 percent internal trip discount on the fueling operation is presented in the DEIR.
However, in Redwood City, Costco is concurrently asserting that only 56 percent of the
vehicles that fuel will also carry people who shop at the warehouse store and presents data
documenting the 56 percent internal pm peak rate for Costco's Santa Clara facility.3 It
would appear that the internal rate Costco asserts in Redwood City is reasonable and
substantiated, as contrast with the unsubstantiated 70 percent assumption in this DEIR. If
Costco's substantiated rate from its Redwood City report is substituted into this South
San Francisco analysis, there would be 14 percent less internal gas trips assumed, 14
percent more Costco gas trips loaded onto the street system. Under this more reasonable
assumption, the project would cause 111 more pm peak hour trips on the adjacent street
and highway system than analyzed in the DEIR traffic analysis. This difference alone
would probably be sufficient to alter findings of impacts and mitigation needs at key
intersections.
The fact that the assumed 70 percent internal trip discount on the service station operation
is not credible can be seen by examining it in light of the numbers of cars bringing people
who shop at the warehouse store. The DEIR and its supporting Costco Traffic Study a
estimate that in the pm peak hour, 397 vehicles will enter the site bringing people to the
warehouse store. Under the 70 percent internal trip assumption for the gas station, it
assumes that 396 trips to and from the gas station (198 in, 198 out) will be accounted for
by vehicles that also bring people to the warehouse store and dismisses this number of
trips from the overall analysis. But if one compares the internal trips dismissed from the
gas station analysis with the total number of trips bringing people to the warehouse store,
one sees that the 70 percent internal trip rate at the gas station implies that one out of
every two bringing people to the Costco warehouse store will also purchase gas at that
times. It is simply not credible to assume that fully half the vehicles bringing people to
2 See the DEIR's supporting traffic study, Costco South San Francisco Tra,()"ic ImpactAnalysis, February
12, 1999 by Rajappan & Meyer. Table S on page 16 identifies 396 of 565 trips generated by the service
station component as being internal trips. This is a 70 percent internal rate.
s Costco Gasoline Station Addition Tra,~'rc Impact Study prepared for City ojRedwood City, DKS
Associates, March 25, 1999.
° The above referenced Costco South San Francisco Tra,BSc Impact Analysis is hereinafter referred-to as
the Costco Traffic Study.
s This comparison referenced here is of data included on Table S, page 16 of the Costco Traffic Study.
The 397 pm peak trips in to the warehouse store is shown near the upper right of the table. The 396 trips
to the gas station (198 inbound, 198 outbound) that are assumed to be "internal trips" are shown at the
lower center of the table. The 198 inbound trips for gas assumod to be "inttrnal" are exactly SO percent of
the 397 inbound trips to the warehouse store, bence it follows that tbe 70 percent internal trip rate
assumption in tbe report implies that fully one-half the cars that bring people to the warehouse store
would also purchase gas.
shop at the Costco wazehouse would be in a state with gas tank's empty enough that they I
would purchase gas at that same time.6
4. The DEIR simply drams from the analysis triers assumed attracted from traffic already 4.2.4
passingbv the site This understates traffic impacts at the protest's matn dnveway
intersection and possib_,.y at the closest adjacent irttersecttons The percent of protect
traffic assumed drawn from traffic alrea~ p~~bv the site may be excessive.
thereby also understating~roject traffic impacts.
The DEIR assumes that 10 percent of the pm peak trips to/from the warehouse store and
the service station facility and 40 percent of the additional retail facility will be attracted
from existing traffic passing by the site. If one adds up the existing traffic volumes
currently passing the site from the existing condition Level-Of-Service calculations tables
in the Costco Traffic Study, one finds about 2400 vehicles pass the site in the pm peak
hour each day. On page 17, Table 6, the Costco Traffic Study assumes that a total of 111
inbound pm peak trips to the project will be drawn from existing passing traffic'.
Comparing these 111 trips to the 2400 that pass the site daily in the pm peak, it becomes
clear that the Costco Traffic Study's assumptions about attracted passers-by equate to the
assumption that everyone driving by the site in the pm peak hour will stop there on the
average of once every 21 days. An assumption implying that, on the average, every
vehicle passing by the site in the pm peak hour will visit the Costco wazehouse store once
every three weeks seems questionable indeed.
More important is the fact that the attracted pass-by trips are simply dropped from the
analysis at the trip generation stage. They are not even considered in the Level-Of-Service
analysis for the main entrance intersection and neazest major intersections where they
would certainly cause added movements (two for one) and a different pattern of
movements (say a left in and a left out of the site -two trips- versus a single trip straight
by) than the trip passing by that they replace. A total of 136 trips in Scenario A and 222
trips in Scenario Bg assumed attracted from passers-by has been assumed in the DEIR and
discounted from the intersection Level-Of-Service analysis -enough to potentially affect
conclusions about impact and mitigation needs at the closest intersections. The analysis
should be redone including consideration of the movements of the amacted pass-by trips
at the closest intersections.
We also note that in the case of the gas station component, the DEIR and its supporting
traffic study treat the internal trips and the attracted "pass-by" trips as independent
discounts of the gas station component's total traffic generation. In fact, they aze not
6 We also note that the DEIR does not present a comprehensive trip generation analysis of trip rates to
Costco warehouse stores that have service station facilities on the site versus those that do not. It would be
expected that a Costco with a fueling operation would experience a higher warehouse store trip generation
rate than one that does not have fueling. By this reasoning, the trip estimates in this DEIR would also
appear low.
These are comprised of 36 warehouse trips, 47 other retail trips and 28 gas trips.
a See Costco Traffic Study Tables 5 and 6, pages 16 and 17.
4
necessarily independent. If 70 percent of the gas station trips are "internal trips" (that is,
ones that also visit the warehouse store), it follows that 70 percent of the gas station's
attracted "pass-by" trips are also internal trips already discounted in the 10 percent pass-
by discount taken on the warehouse store traffic. Hence, the analysis has taken adouble-
discount and overstated the pass-by trip discount on the gas station component by 70
percent. A corresponding number of "new" project trips should be added to the analysis.
This consequence of this error is that project traffic impacts are understated at remote
intersections as well as those closest to the project site.
S. Procedures used in the long term analysis for the intersection traffic Level-Of-Service
computations disguise the effects of traffic growth and may fail to disclose significant 4.2.5
traffic impacts and mitigation needs To proper disclose the full extent of traffic
impacts the Level Of Service computations should be redone with future veer veak
hour factors set at measured existing rates except where Level-Of-Service on
individual approaches is already well into Level-Of-Service E.
This is a highly technical matter which we will attempt to explain as clearly as possible in
layman's terms. For detailed technical information, see the Highway Capacity Manual.
Even in peak hours, traffic tends to come on individual approaches to an intersection in
surges and lulls rather than at a constant steady rate. Only when the approach is heavily
congested for the entire peak hour does traffic tend to approach at a constant steady-state
rate. In the intersection Level-Of-Service analysis (which is used as a primary indicator to
determine traffic impacts and mitigation needs), a quantity called the peak hour factor is
used to account for the surges and lulls (or lack thereof) in traffic and duration of peak
traffic within the peak hour. Peak hour factor can range from .25 to 1.0. A low peak
hour factor reflects conditions where there is considerable surge and lull over the hour and
the heaviest traffic lasts for only about 15 minutes. A peak hour factor approaching 1.0 is
indicative of little surge and lull and steadily heavy traffic over the entire peak hour. In the
data on existing traffic conditions, many of the approaches on the intersections analyzed in
the DEIR have low to moderate peak hour factors indicative of short durations of peaks
and considerable surge and lull in peak hour traffic. However, in the long term Level-Of-
Service analysis, those preparing the traffic study have chosen to uniformly assume a 1.0
peak hour factor on all intersection approaches. This would be indicative of a constant
steady flow rate on all approaches throughout the peak hour. This is an unreasonable
assumption because it does not reflect the actual conditions that will occur and because it
masks the true impacts of project traffic.
As an illustration of this, consider the intersection of Dickey Boulevard and El Camino
Real just north of the project. In the existing condition, the El Camino Real approaches
have respective northbound and southbound peak hour factors of .92 and.95, the
9 Highway Capacity Manual, Transportation Research Hoard, National Research Council. The current
edition of this manual is the 1997 edition. Since the Costoo Traffic Study employed the procedure of the
1994 edition, the reader is referenced to that edition. Discussion of peak hour factor can be found on
Chapter 9, page 9-12 of the 1994 edition.
eastbound Hickey approach has a .82 peak hour factor and the approach from the trailer
court has a peak hour factor of .98. Existing Level-Of-Service is computed at "C", the
average delay per vehicle is estimated at 17.0 seconds per vehicle and the average delay
per vehicle for vehicles approaching from the trailer court is estimated at 40.3 seconds per
vehicle. In the long term analysis (Year 2010 Buildout), all approaches aze assumed to
operate at a peak hour factor of 1.0. This is completely unjustified since the analysis as
presented in the DEIR shows the intersection still operating at Level-Of-Service "C" and
the traffic volumes on the trailer court approach and the eastbound Hickey through and
left approaches aze essemially unchanged. In the DEIR's and the supporting Costco
Traffic Study's assessment, due to the unreasonable adjustment of the peak hour factor,
the computed Level-Of-Service remains "C", average delay per vehicle for the entire
intersection increases slightly to 23.6 seconds and average delay per vehicle for those on
the trailer court approaches improves to 38.4 seconds per vehicle. However, if the
existing peak hour factor is correctly assumed to remain as is justified by the data
presented in the DEIR, using otherwise all the same data, methodology and analysis
software as the DEIR analysis, the following results are obtained. The overall Level-Of-
Service at the intersection would be "D" (not "C"), average delay per vehicle would be
25.3 seconds and there would be a huge increase in average delay per vehicle for people
coming out of the trailer court entrance, a total of 71.2 seconds per vehicle (as contrast
with the 38.4 forecast), putting this approach in Level-Of-Service "F" conditions.
Cleazly, the unjustified assumption in the long term analysis that the peak hour factor on
all approached goes to 1.0 has major ramifications on disclosure of impacts and makes the
DEIR traffic analysis inadequate. All of the computations should be redone using
reasonable peak hour factor rates. The consequence of this change is so potentially
significant that for this reason alone the DEIR should be recirculated again as a draft.
6. Analysis of pro~cct traffic impacts must include an assessment of the adeauacv of 4.2.6
aueue storage yrovisions for all movements at all intersections analyzed.
The proposed project's main driveway is in close proximity to the intersections of El
Camino Real with Hickey Boulevazd and with the future Hickey Boulevazd extension.
Although the DEIR asserts that there will be adequate queue storage between the
proposed main driveway intersection and these two other intersection, malting appropriate
alterations to the peak hour factor in the Level-Of-Service computations and making the
changes to project traffic generation discussed in poirrts above will aher the estimates of
critical queue storage requirements. After rerunning the Level-Of-Service computations
with appropriate peak hour factors and trip generation adjustments, the DEIR should
demonstrate the adequacy of queue storage provisions between the above intersections.
Also, the Level-Of-Service calculation sheets in the Costco Traffic Study for the neaz-term
and long term conditions forecast very long queues in the left turn lanes at many of the
intersections analyzed. For instance, on northbound El Camino Real at Hickey, the left
turn queue is 15 vehicles per lane in the background condition, 19 vehicles per lane in the
"neaz term with project" condition and 28 vehicles per lane in the "Year 2010 with
6
project" condition. Queue storage length required is typically 20 to 25 feet per vehicle.
So the length of left turn pockets needed would almost double from the 300 to 375 feet
needed for the background condition to 560 to 700 feet needed for "Year 2010 with
project" Just adding the project to background conditions would increase left turn storage
length by 80 to 100 feet.
When length of a left turn queue exceeds the length of the length of the left turn pockets,
left turn traffic blocks the other approach lanes and creates severe operational difficulty
not indicated in the theoretical Level-Of-Service analysis. Hence, the project may cause
significant intersection traffic impacts and mitigation needs not disclosed in the analysis as
conducted in the DEIR. After rerunning the Level-Of-Service computations with
appropriate peak hour factors and trip generation adjustments, the DEIR should
demonstrate the adequacy of queue storage provisions at all intersections analyzed in the
DEIR.
7. The DEIR must demonstrate that the traffic signals along El Camino Real at Hickev. 4.2.7
at the main Costco entrance and at the New Hickey extension can be successfully
interconnected in a satisfactorily functional operational scheme. Effective operation of
such an interconnected scheme mawrequire different turninpLlane provisions than
indicated in the DEIR traffic analysis which analyzes these locations as isolated
intersections.
In a similar vein, the DEIR itself notes that because of the proximity of the above
intersections, the signals at these intersections will need to be coordinated. However, the
DEIR's analysis of these locations examines them only as independent intersections.
DEIR fails to demonstrate that the signals can be coordinated in a manner that will allow
the intersections to perform at aLevel-Of-Service comparable to that in its analysis of
them as independent intersections. The traffic analysis should be redone to include an
analysis that treats the three signalized intersection complex as a single, integrated facility
and includes the following elements: use of a program like Transyt 7F to estimate delay
through the complex to compute Level-Of-Service, assess the implications of queue length
on upstream facility operations and demonstrate the feasibility and suitable function of an
interconnect system for the signals in the interchange complex area. Such an analysis
could demonstrate significantly different mitigation requirements for the project. In
specific, consider the left turn movement from El Camino southbound into the main
Costco entrance (intersection 17 in the Costco Traffic Study Level-Of-Service
calculations). In the single left turn lane configuration proposed, the 299 vehicles that will
make this movement require 25 percent of the "green time" at this signal. This works fine
if this intersection is considered as an isolated location according to the Costco Traffic
Study's calculation for the long term situation. However, it seems probable that if the
signals at the three closely spaced intersections were to interconnected in a satisfactorily
coordinated system, it would be necessary to provide double left turns for the left turn
entry movement to Costco to cut down on the percentage of green time that the left turn
entry requires and allocate that time to other movements through the three intersection
complex.
The DEIR admits that the three signals would need to be interconnected. The above
discussion illustrates why project mitigation requirements would likely be different under
an interconnect strategy and, therefore, why the systematic interconnect analysis must be
included in the DEIR.
8. The "Year 2010 Analvsis" misleads the public by disguising actual near term 4.2.8
cumulative impacts of the proiect as distant-year impacts. ~
The only apparent difference between the "Year 2010 Analysis" and the "Near Term"
analysis in the DEIR is the assumption that the BART SFO extension with the station in
South San Francisco adjacent to the Costco project site will be in operation. Treating the
`wvith BART" condition only as a Year 2010 event is misleading in that it makes the
conditions forecast seem like remote events that may or may not ever happen. In actual
fact, BART is approved, under construction and will open within a year or two of the
Costco project. BART should have been included among the approved projects included
in the "near term backgound conditions" analysis. The entire traffic section should be
redone with BART included in the "near term" analysis.
9. "Fair share" contributions to fund mitigations are inadequate as project mitigations 4.2.9
under CEOA unless there is a clear pro~am to fully fund and implement the mitigation
proms ct in a timely manner In addition. the DEIR provides an unclear indication of
what the Costco project's fair share contributions should be and fails_to reflect the
~ecific i~ut on this subject from its supporting traffic study and from the exvert veer
review commissioned by the Cit~of South San Francisco.
Several of the traffic mitigations proposed involve contribution of an estimated `fair
share" toward the cost of needed improvements. However, absent a clear progam to
fund the full cost of mitigation improvements and implement them in a timely manner,
there is no guarantee that the necessary mitigations will ever be fully funded and
constructed. The implication is that the public could experience the project's significant
traffic impacts unmitigated for years even if a "fair share" deposit of funds were made.
The DEIR provides no indication of certainty that the necessary traffic mitigations will be
fully funded and constructed within a reasonable time. Hence the offer to pay "fair share
cost" does not qualify as mitigation under CEQA.
In addition, the Costco Traffic Study makes specific estimates of the actual fair share
percentages based upon the Year 2010 analysis. The peer review of the Costco Traffic
Study commissioned by the City of South San Francisco and performed by Crane
Transportation Group is critical of the basis year of the fair share analysis in the Costco
Traffic Study, contending that it understates Costco's fair share.10 The DEIR itself fails
to resolve this issue, leaving Costco's fair share and actual cost vague and undetermined.
This is inadequate as mitigation under CEQA.
' ° See Item 2 on page 1 of letter-report dated 12-29-98.
10. The DEIR fails to consider the.possibili of mitigating the vroiect's sigrtificant traffic 4.2.10
impacts by reducing_the scale of the vroiect.
The DEIR fails to consider an obvious mitigation to the project's significant impacts -
reducing the scale and traffic generating intensity of the project. Ways that this could be
done include eliminating the secondary retail development proposal and/or eliminating the
gasoline service station component of the proposal since this is really a separate activity
from the fundamental membership warehouse retail component of the project.
11. The DEIR analysis procedure is deficient in that it is incapable of identifying the 4.2.11
project's significant traffic impacts at intersections that already exceed South San
Francisco's Level-Of-Service "D" standard. I
The DEIR identifies a single threshold of significance for traffic impacts at signalized
intersections -that of causing conditions to exceed Level-Of-Service "D". This is suitable
as one threshold of impact. However, there are other thresholds of significant impact that
should be addressed in the DEIR but are not. For instance, it is certainly as significant an
adverse traffic impact when a project causes intersection traffic demand that alters the
Level-Of-Service rating computation from just into Level "E" to verging on or just into
Level "F" or from barely into Level "F" to deeply into Level "F" as a condition causing
the computation result to shift from Level "D" to "E". However, the DEIR provides no
recognition of significant impacts that may occur as the result of traffic changes at
intersections that already exceed the Level D threshold. This deficiency was identified in
peer review of the Costco Traffic Study performed for South San Francisco by the Crane
Transportation Group" but is not addressed or remedied in the DEIR. The entire analysis
should be redone considering significance thresholds that consider the effect of traffic
changes at locations where conditions already exceed the "acceptable" threshold.
12. The intersection of Juni ero Sena Boulevard and Serramonte Boulevard should be 4.2.12
analyzed in the DEIR but is not.
The intersection of Junipero Serra Boulevard and Serramonte Boulevard is on an obvious
route that allows project traffic to bypass the congested I~'ickey Boulevard/I-280
interchange area. ALevel-Of-Service analysis for this intersection should have been
analyzed in the DEIR but was not, despite the fact that it was requested in the comments
on the EIR scope by the City of Daly City. This deficiency should be remedied.
13. A weekend traffic analysis should be.performed for the proiect. 4.2.13
Trip Generation indicates that membership discount warehouse operations like Costco
typically have about 29 percent more total traffic on Saturdays than weekdays and 36
percent more traffic in their Saturday peak hour than on their weekday peak hour. In a
project the scale of this Costco, the all-day Saturday trips could be higher by 2432 (10,820
versus 8388) and peak hour trips could be higher by 286 (1080 versus 794).While it is
" See Item 4 on page 2 of the referenced letter-report.
9
often true that the non-project background traffic is usually less on Saturdays than on
weekdays, the increase in project traffic may offset the decrease in base traffic and
significant project traffic impacts may be found on Saturdays. Such impacts may often
occur at different locations and require different mitigations than those associated with
weekday traffic. The DEIR is deficient without a weekend analysis.
14. A Transportation System Management Plan (TSNi~should be defined for the nroiect
in the EIR but is not. This is a deficiency.
Policy 81 of the City of South San Francisco General Plan requires that a TSM plan be
defined for the project. None is provided in the EIR The plan should be included in the
EIR so that the public has the opportunity to review and comment on it. Such a plan
could concentrate on reducing trips by project employees and on taking maximum
advantage of the project's proximity to the new BART station.
15. The trip~eneration for the 73 000 square feet of additional retail develoument in
Scenario B is understated This causes the DEIR to understate the vroiect's traffic
impacts for this scenario.
Trip Generation indicates that as shopping center size increases, trip generation per square
footage of floor area decreases. This is logical because, the larger the center, the more
probability ofmulti-purpose trips within the one center. Because the rate varies by size,
Trip Generation gives a fitted curve for shopping center trip generation based on center
size and recommends that the fitted curve be used rather than the overall average trip
generation rate per unit floor area that it also identifies.12 Despite this guidance, the DEIR
and its supporting traffic study estimate the trip generation rate for the additiona173,000
square feet of retail use in the project under Scenario B at the average rate for shopping
centers. This results in an understatement to project trips. ff the generation for the
additional Scenario B retail is properly computed using the fitted curve from Trip
Generation and treating the additional retail as an increment to the Costco retail center of
Scenario A, the analysis indicates the DEIR understates project retail peak period trips by
57. This is enough to, in combination with other understatements of project tripmaking
described herein, cause the DEIR to significantly understate the project's significant traffic
impacts and mitigation requirements. Much of the 57 trip understatement is accounted-for
by the Costco Traffic Study taking discounts on both the Costco warehouse and the added
Scenario B retail for what it descnbes as "multi-use site reduction" (see Table 6 on page
17 of the Costco Traffic Study). However, this factor is already accounted-for in the
fitted curve from Trip Generation.13 The entire analysis should be redone based on a
proper computation of the trip generation from the additional retail in Scenario B.
12 See Op. Cit., page 1334.
's The peer review performed for the City of South San Francisco also raises this same point. However, it
indicates the DEIR as having a much larger understatement of trip generation (2371ow) than our analysis
because it interprets tbe added retail in Scenario B as afree-standing center rather than as an increment to
the Costco center. However, it is significant to note that even though alerted to this problem by the peer
analysis, the DEIR did nothing to remedy the deficienry.
4.2.14
4.2.15
10
16. The DEIR is deficient in failing to consider the effects of the project's significant 4.2.16
traffic impacts on public access to emer~cv services.
The Kaiser Hospital is located on El Camino Real south of the project site. The DEIR
fails to consider any potential consequences of the project's significant traffic impacts on
public access to emergency medical care. Since public safety is a high level ministerial
duty of the City, this deficiency in the DEIR must be remedied prior to certification.
Conclusion
Because of these severe inadequacies of the DEIR, we request that its transportation
section be entirely redone in light of the comments herein and that, because of the
extensive change in the impact disclosure that would result, that the DEIR be re-circulated
as a draft document. Because of the significant changes entailed, the public would not
have sufficient opportunity to review and comment on the responses to the points herein if
they were simply incorporated in a FEIR. The project sponsor's or the City's desire to
move the project forward on some project schedule that suits their objectives is not
sufficient reason under CEQA for failure to provide adequate circulation and time for
public review of a draft document when significant changes in disclosure are made.
These conclude our current comments on the DEIR. We would be pleased to discuss
them with you.
Sincerely,
SMITH ENGINEERING & MANAGEMENT
A California Corpo tion
Daniel T. Smith Jr., P.E.
President
11
-`~.~
ENVIRONMENTAL INC
June 14, 1999
Henn & Etzel, Inc.
Attorney At Law
Four Embazcadero
Center, Suite 510
San Francisco, CA 94111-4151
Comment 4.3
RE: DEIR Air Quality Impact Analysis for the Proposed Costco South San Francisco
Robert Gils is a Certified Industrial Hygienist; he has worked in the field of
Occupational and Environmental Health for twenty-eight years. His work experience
includes hazardous materials risk assessments, hazardous management and air quality
studies. He will shortly begin work on the San Francisco Public Utilities Commission
Odor Emissions study for the expansion of the Wastewater Treatment Plant.
Comment 1 The Air Ouality Impact Analti~sis (AOIAI for the Proposed Costco South
San Francisco is inadequate because it does not reflect the local impacts of increased 4.3.1
traffic and associated contaminants.
The worst case scenario locations evaluated for the DEIR/AQIA aze remote from the
proposed Costco site. The five (5) intersections evaluated range from approximately
one-half to one mile in distance. The remoteness of the study locations does not
therefore accurately reflect the local impact of carbon monoxide and objectionable
odors on sensitive receptors including residences and the Treasure Island Trailer Pazk to
the northeast, El Camino High School across Mission Road, Alta Loma Middle School,
the Kaiser Hospital and along roadways used by trafric.
Example: elevated concentrations of carbon monoxide levels are normally only found
neaz sources. Using remote locations one half to one mile from the site will not
accurately predicted local conditions.
Comment 2. The Vehicle mix used for the AOIA does not reflect the vehicle mix shown 4.3.2
in the Rajappan & Meyers report.
4701 Doyle Street
Suite 14
Emeryville. CA 94608
510 547 7771
FAX 547 1983
i
The DEIR/AQIA uses a 2000 vehicle mix in evaluating the five (5) selected
intersections discussed above. The vehicle mix shown in the Rajappan & Meyer (R&M)
report predicts vehiculaz traffic in excess of 8000 vehicles for the Costco site. By using
a 2000 vehiculaz mix at points remote form the site the AQIA does not predict the local
conditions shown in the R&M report.
Example: the vehicle mix used in evaluating the local impact of cazbon monoxide and
objectionable odors on sensitive receptors exceeds 8000 vehicles at the project site.
Comment 3: The AQIA does not address emissions from idlin~z vehicles lining_up at the
fill ports. 4.3.3
The loss leader mazketing concept of selling gasoline at a reduced rate will cause
substantial line of idling traffic at the service pumps, therefore, increasing the amount of
local emissions.
Example: Because of its discount the predicted amount of gasoline to be sold at the site
is estimated at roughly three times the volume of gasoline to the sold at any other
neazby station; this will cause excess traffic for the purposes of fueling will occur.
Sincerely,
RGA ENVIRONMENTAL, INC.
A California Corporation
G~ -~L
Robert E. Gils, CIH #1151
CITY OF SOUTH SAN FRANCISCO
REGULAR PLANNING COMMISSION MEETING
MINUTES (EXCExrrS)
MUNICIPAL SERVICES BUILDING
33 ARROYO DRIVE
June 3,1999
PUBLIC HEARING -AGENDA ITEMS
3. Costco-owner/applicant
1556 El Camino Real
EIR-98-084
Public hearing to take comments on Draft EIR for Costco Project.
Senior Planner Kalldn gave the staff report.
Comment 5.1
Jack Frank, Director of Real Estate Development for Costco, added that they did not have a
formal presentation and they were here to listen to public and Commission concerns.
Ted Simas, 110 Hickey Boulevazd, commented that Costco's pricing tactics will be devastating
to the dealers in the community. He added that Costco applied to BAAQNID fora 15 million
gallon a yeaz allocation, noting that an average lazge service station will se11200,000 gallons per
month. Costco's anticipation is a million gallons per month, which equals to five gas stations.
The analysis of the BAAQNID permit is focused on the pollution derived from the equipment on
site, specifically the nozzles, and the fueling appazatus. He stated that in the EIR air samples
were taken from five locations, none of which aze close to the site. He added that he has hired an
air quality evaluator and his comments will be forthcoming.
Dennis DeCota, Executive Director of California Service Station and Automotive Repair
Association (CSSARA), added that CSSARA has worked diligently to create competition within
the gasoline industry. The consumer will be able to buy gasoline at a lower cost, on average,
lower at Costco. The turnout of this will be that a lot of jobs in the local gasoline businesses will
be lost. He added that the major oil companies have a strategic plan, the hypermarket. Costco,
Albertson's, Home Depot and other mass merchandisers aze going into the business. He added
that there will be 1,440 truck loads of gasoline a yeaz, 5,000 cazs a day, 32 fueling sites. The
VOC emissions that will be emitted from these vehicles will drive costs up in environmental
azeas drastically.
Keith Simas supported the prior speaker's comments. He added that the traffic report falls short
in its trip estimate generations. He stated that the trip estimate for service station portion of the
project aze not very believable. He pointed out that the report from the City of South San
Francisco stated that the p.m peak trip analysis is 70% discounted as internal trips. He added that
a traffic report generated for the Redwood City Costco claims 56°rb internally trip generation and
he added that the numbers aze different and there should not be such a lazge gap. He stated that
the Draft Environmental Impact Report does not report on a.m. peak period analysis. The Costco
in Redwood City would have more traffic in the a.m than it would in the p.m. He added that the
trailer park is impacted by the project, and he pointed out some discrepancies in the report in
regard to egress and ingress from the azea. The report shows a scenario of an increase of 33%
delay exiting the pazk. He pointed out another scenario without an increase, because the report
states that the number of cazs exiting can be reduced by 1/3 going straight across, and'/z making a
5.1.1
5.1.2
5.1.3
left turn. He stated that there is not a clear program for the traffic mitigations outlined in the E1R.
He added that the reports need to be studied further in regard to gasoline.
Public Hearing was closed.
The Planning Commission made comments on the Draft Environmental Impact Report. They
asked staff to include the following in the Final Environmental Impact Review:
Ol. Compaze pazking at the Redwood City Costco and Airport Boulevazd PriceCostco. 5.1.4
02. Address the issues regazding traffic, land use compatibility, and storm drainage in response to 5.1.5
the letter from the City of Daly City.
03. Look at proposed and existing parking. 5.1.6
Mr. Frank added that the relocation of the San Bruno facility is being considered because it
is inadequate in the physical plan, there are 500-600 stalls and in the South San Francisco site
the proposal is 850 stalls. Mr. Meyer added that the pazking space allocation exceeds the
pazking requirements for the City.
04. Look at Costco with a gasoline station and then compaze it to a Costco without a gasoline 5.1.7
station.
Chairperson Honan stated that there is a maximum of 16 vehicles, which can be refueled at
one time and asked why there are so many pumps. Mr. Frank replied that there are 4 islands
with four pumps per island, which is consistent with the Costco's standard design.
O5. Make an air quality test at EI Camino high school because of the site being so close to the 5.1.8
school. 5.1.9
06. More discussion of the Mitigation Measures.
07. Analyze the impact of potential BART overflow pazking. 5.1.10
Public Hearing closed.
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