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Atlanta Avenue Widening Project - Recirculated Mitigated Neg
NOTICE OF PUBUCHEARING BEFORE THE CITY COUNCIL OF THE CITY OF HUNTINGTON BEACH NOTICE IS HEREBY GIVEN that on Tuesday, February 19,2013,at 6:00 p.m.in the City Council Chambers, 2000 Main-Street, Huntington Beach, the City Council will hold a public hearing on the following planning and zoning item: ®®� ®� I❑1. RECIRCULATED MITIGATED NEGATIVE WID- i LARATION NO. 09-00 1(ATLANTA AVENUE'WID- ENING). Applicant: City of Huntington Beach I Property Owner: Atlanta Avenue ROW: City of N !Huntington Beach; Pacific Mobile Home Park: PUBLICATION �Pacific Mobile Home Park, LCC, 80 Huntington 'Street, Huntington Beach, CA 92648 Request: To 'analyze the potential environmental impacts assb- ciated with a-proposal to widen the south side of Atlanta Avenue, between Huntington Street and Delaware Street. to comply with the primary arterial street classification in the General Plan STATE OF CALIFORNIA) !Circulation Element. The proposed street im- provements will provide an additional through lane land bike lane in each direction of travel. In ss. addition, the project's scope of work includes clearing'and grubbing, the construction of asphalt R/`N(±E ) ;an roadway, striping,curb,,gutter, sidewalk, COUNTY OF ORANGE an 8-foot tall concrete block wall atop a variable height (7 ft. max.) retaining wall, landscaping !(including the removal or relocation of 25 trees 'within the existing mobile home park), re am a citizen of the United States and a Iconstruction.of a'24 ft. wide drive aisle (circula- tion road) and two emergency access gates within resident of the County of Los Angeles I the mobile home park,deconstruction and removal of eight mobile homes and utility and fire hydrant am over the a e of ei hteen ears and 'adjustment and relocation. In addition;five utility' g g Y !poles and ovehead lines currently located within ,the existing southerly parkway area will require not a party to or interested in the notice relocation. The poles will be relocated approx- published. I am a principal clerk of the �imately 25 feet to the south to allow for the p p widening of Atlanta Avenue. SCE will transfer the lexisting subtransmission and distribution circuits HUNTINGTON BEACH to the new wood poles. Gas, cable, sewer, and INDEPENDENT which was adjudged a ;water lines,,locateed within existing City ROW and r " within the existing circulation road in the Pacific of general circulation on Mobile.Home .Park (PMHP) will be protected newspaper g in-place or relocated during project construction._ September 29 1961 case A6214 and �ln accordance with .the City's franchise p r e r agreements, the utility companies will be respon- June 11 1963 case A24831 for the sible for the relocation and/or adjustment of their r r facilities, however, their physical relocation is City of Huntington Beach County of !incorporated into this environmental analysis. It e ishould be noted that the project requires approval Orange and the State of California. of a coastal development permit for development in the coastal zone and a conditional use permit Attached to this Affidavit is a true and Ifor the proposed wall height. A separate public !hearing-before the,Planning Commission will be complete copy as Was printed and !scheduled for the associated CDP and CUP. p py p Construction of the proposed street improvements published on the following date(s): will require the acquisition of an additional 25 feet of public street right-of-way south of the center line of Atlanta Avenue (i.e., the public street right-of-way is proposed at 55 ft. south of street Thursday, February 7, 2013 centerline). The additional 25 feet of right-of-way would come from a 25 feet wide by 630 feet long (approx.) strip of land from the Pacific Mobile, Home Park located immediately south of Atlanta Avenue. The acquisition of the 25 feet would impact eight manufactured/mobile homes (Unit 1 certify (or declare) under penalty !Within 0 he1 02 perk.Theo impacted0 residents dwo0uld !need to be .relocated pursuant to the Federal of perjury that the foregoing is true j Uniform Relocation Assistance and Real Property Acquisition Policies Act of 1970 ,("The Uniform and correct. Act").A Mitigated Negative Declaration(MIND)was adopted by the City of Huntington Beach•City Council in January 2011. Subsequent to adoption j of the MIND in 2011,a lawsuit was•filed challenging the City's approval of the MIND. As a result of the California Environmental Quality Act (CEQA) lawsuit, the Court required the City to set-aside Executed on February 13 2013 approval of the 2011 MND and conduct additional lenvironmental analysis, which is reflected in the ;Draft Recirculated Mitigated Negative Declaration. at Los Angeles, California iLocation:,Atlanta•Avenue Right-of-Way: between ,Huntington Street and Delaware Street; Pacific Mobile Home Park: 80 Huntington Street (south side of Atlanta Avenue, between Huntington Street and Delaware Street),Project Planner: Jennifer Villasenor NOTICE IS HEREBY GIVEN that the initial environ- mental assessment for the above item, was n processed and completed in accordance with,the (,,((/ f 'California Environmental Quality Act. It was deter- mined that Item # 1, with mitigation, would not Signature have any significant environmental effects and that a recirculated mitigated negative declaration is. warranted. The recirculated mitigated negative declaration.(No. 09-001) is on file at the City of Huntington Beach Planning and Building Depart- ment,2000 Main Street,and is available for public inspection and comment by contacting the Plans ning and Building Department, or by telephoning !(714)536-5271. ON FILE: A copy of the proposed request is on file in the Planning and Building Department, 2000 Main Street, Huntington Beach, California 92648, .for inspection-by the public. A copy of the staff report will be available to interested parties at the City Clerk's Office or on Iine.at http://www. huntingtonbeachco.gov,on Thursday,February 14, j2013. ALL INTERESTED PERSONS are invited to attend said hearing and express opinions or_ submit evidence for or against the application'as outlined above. If you challenge the City Council's action in court, you may,be limited to raising only those issues•you or someone else raised at the-public hearing described in this notice, or in written correspondence delivered to the City at, or prior to, the public hearing. If there are any further questions please call the Planning and Building Department at (714) 536-5271 and refer to the above items. Direct your written communications to the City Clerk Joan L.Flynn,City Clerk City of Huntington Beach 2000 Main Street,2nd Floor, Huntington Beach,California 92648 714-536-5227 http://huntingtonbeachea.gav/HBPublidonirnenh/ PnbhshedH.B-Indenendent2d/13 City of Huntington Beach 2000 Main Street ♦ Huntington Beach, CA 92648 (714) 536-5227 ♦ www.huntingtonbeachca.gov FFB;� ,9og Office of the City Clerk 8 ` Joan L. Flynn, City Clerk NOTICE OF ACTION RECIRCULATED MITIGATED NEGATIVE DECLARATION NO. 09-001 (ATLANTA AVENUE WIDENING PROJECT) February 21, 2013 City of Huntington Beach Public Works Department 2000 Main Street Huntington Beach CA 92648 APPLICANT: City of Huntington Beach Public Works Department REQUEST: To analyze the potential adverse environmental impacts of a City-initiated proposal to widen Atlanta Avenue between Huntington Street and Delaware Street to a four- lane primary arterial as designated by the General Plan Circulation Element. PROPERTY OWNER: Atlanta Avenue Right-of-Way: City of Huntington Beach; Pacific Mobile Home Park: Pacific Mobile Home Park, LLC, 80 Huntington Street, Huntington Beach, CA 92648 LOCATION: Atlanta Avenue Right-of-Way: between Huntington Street and Delaware Street; Pacific Mobile Home Park: 80 Huntington Street (south side of Atlanta Avenue, between Huntington Street and Delaware Street) PROJECT PLANNER: Jennifer Villasenor On Tuesday, February 19, 2013 the Huntington Beach City Council held a public hearing and voted to set aside and vacate the January 18, 2011 certification of Mitigated Negative Declaration No. 09-001 and approve Recirculated Mitigated Negative Declaration (MND) No. 09-001 for the Atlanta Avenue Widening Project. Enclosed are the Findings and Mitigation Measures for Recirculated MND No. 09-001, and page 5 of the Action Agenda from the February 19, 2013 meeting. If you have any questions, please contact Jennifer Villasenor, Senior ZPIaner, tt 714) 374-1661. Jo L. Flynn, CMC City Clerk JF:rl c: Scott Hess, Director of Planning and Building Jennifer Villasenor, Senior Planner Attachments: Findings and Mitigation Measures Recirculated MND 09-001; Page 5 -City Council Action Agenda for 2-19-13 Sister Cities: Anjo,Japan ♦ Waitakere, New Zealand FINDINGS AND MITIGATION MEASURES RECIRCULATED MITIGATED NEGATIVE DECLARATION NO. 09-001 1. Recirculated Mitigated Negative Declaration No. 09-001 has been prepared in compliance with Article 6 of the California Environmental Quality Act (CEQA) Guidelines. It was advertised and available for a minimum public comment period of 30 days. Comments received during the comment period were considered by the City Council prior to action on the Recirculated Mitigated Negative Declaration. A total of three comment letters were received, indicating no comments on the Recirculated MND. 2. Mitigation measures avoid or reduce the project's effects to a point where clearly no significant effect on the environment will occur. Mitigation measures address construction noise and pollutant emissions and potential impacts to biological resources, cultural resources, population and housing, and roadway noise. Mitigation measures were generally designed to minimize construction related impacts within and surrounding the project area as well as ensure that relocation of the impacted residents complies with the provisions of existing federal laws enacted to ensure that people whose real property is acquired, or who move as a result of projects receiving federal funds, will be treated fairly and equitably. 3. There is no substantial evidence in light of the whole record before the City Council that the project, as mitigated through the mitigation measures, will have a significant effect on the environment. The proposed project will widen Atlanta Avenue between Huntington Street and Delaware Street to comply with the primary arterial street classification in the General Plan Circulation Element. As defined in the General Plan, the primary arterial street classification provides sidewalk, curb, gutter, a bike lane, and two through lanes in each direction of travel, separated by a striped median. Currently, the subject segment of Atlanta Avenue provides one lane in each direction, a striped median, and on-street parking along a portion of the north side of the street. Additional beneficial impacts include construction of a new ADA accessible sidewalk and Class II bike lane along the south side of Atlanta Avenue. The subject segment of Atlanta Avenue does not currently have an accessible sidewalk or designated bike lane. Because the current roadway narrows at the intersection of Huntington Street and Atlanta Avenue, traffic flow is often impeded when the bus makes stops at this location. In addition, bicyclists are currently forced into travel lanes due to the roadway narrowing and the existing transit stop configuration. The project would improve the current conditions with the installation of the proposed improvements and may improve traffic safety for pedestrians, bicyclists and transit users traveling within the project area. Finally, all potential adverse impacts resulting from construction and implementation of the project on the mobile home park community are less than significant or can be adequately mitigated to a less than significant level. MITIGATION MEASURES FOR ENVIRONMENTAL CONCERNS: 1. As soon as feasibly possible pursuant to all applicable laws and regulations, the City shall commence with acquisition and relocation in accordance with the provisions of the Federal Uniform Act and other applicable laws. Notification to and discussions with the impacted property owner and residents shall occur as soon as feasibly possible pursuant to the Federal Uniform Act. The City shall ensure that a relocation plan is prepared prior to final project plans and relocation is implemented in accordance with the Federal Uniform Act. 2. The City shall require, by contract specifications, implementation of the following measures: a. All work shall be done in accordance with the "GREENBOOK" Standard Specifications for Public Works Construction, 2009 Edition, as written and promulgated by Public Works Standards, Inc. b. The construction contractor shall not discharge smoke, dust, equipment exhaust, or any other air contaminants into the atmosphere in such quantity as will violate any federal, State or local regulations. (Greenbook Section 7-8.2) c. The contractor shall comply with Caltrans' Standard Specification Section 7-1.01 F and Section 10 of Caltrans' Standard Specifications (1999). d. The contractor shall apply water or dust palliative to the site and equipment as frequently as necessary to control fugitive dust emissions. e. The contractor shall spread soil binder on any unpaved roads used for construction purposes and all project construction parking areas. f. The contractor shall wash trucks as they leave the right-of-way as necessary to control fugitive dust. g. The contractor shall properly tune and maintain construction equipment and vehicles and use low-sulfur fuel in all construction equipment as provided in the California Code of Regulations Title 17, Section 93114. h. The contractor shall develop a dust control plan documenting sprinkling, temporary paving, speed limits, and expedited re-vegetation of disturbed slopes as needed to minimize construction impacts to adjacent uses and residents. i. The contractor shall locate equipment and materials storage as far away from residential as practical. j. The contractor shall establish environmentally sensitive areas for receptors within which construction activities involving extended idling of diesel equipment would be prohibited to the extent feasible. k. The contractor shall use track out reduction measures such as gravel pads at project access points to minimize dust and mud deposits on roads affected by construction traffic. I. The contractor shall require that all transported loads of soil and wet materials shall be covered prior to transport, or provide adequate freeboard to reduce PIVI,o and deposition of particulate matter during transportation. m. The contractor shall route and schedule construction traffic to avoid peak travel times as much as possible to reduce congestion and related air quality impacts caused by idling along local roads. n. The contractor shall install landscaping as soon as practical after grading to reduce windblown particulate in the area. o. The contractor shall implement a street sweeping program with Rule 1186-compliant PIVI,o-efficient vacuum units on at least a 14-day frequency. p. The contractor shall abate dust nuisance by cleaning, sweeping and spraying with water, or other means as necessary. (Greenbook Section 7-8.1) q. The contractor shall provide a self-loading motorized street sweeper equipped with a functional water spray system. The sweeper shall clean all paved areas within the work site and all pave haul routes at least once a day. (Greenbook Section 7-8.1) 3. Prior to the onset of ground disturbance activities, the project developer shall implement the following mitigation measure which entails nesting surveys and avoidance measures for sensitive nesting and NIBTA species, and appropriate agency consultation: a. Vegetation removal and construction shall occur between September 1 and January 31 whenever feasible. b. Prior to any construction or vegetation removal between February 15 and August 31, a nesting survey shall be conducted by a qualified biologist of all habitats within 500 feet of the construction area. Surveys shall be conducted no less than 14 days and no more than 30 days prior to commencement of construction activities and surveys will be conducted in accordance with California Department of Fish and Game (CDFG) protocol as applicable. If no active nests are identified on or within 500 feet of the construction site, no further mitigation is necessary. A copy of the pre-construction survey shall be submitted to the City of Huntington Beach. If an active nest of a NIBTA protected species is identified onsite (per established thresholds), a 250-foot no-work buffer shall be maintained between the nest and construction activity. This buffer can be reduced in consultation with CDFG and/or U.S. Fish and Wildlife Service. c. Completion of the nesting cycle shall be determined by a qualified ornithologist or biologist. 4. The City shall require by contract specifications the following measures: a. Ensure that all construction equipment has sound-control devices. b. Prohibit equipment with un-muffled exhaust. c. Site staging of equipment as far away from sensitive receptors as possible. d. Limit idling of equipment whenever possible. e. Notify adjacent residents in advance of construction work. f. Educate contractors and employees to be sensitive to noise impact issues and noise control methods. g. Install temporary acoustic barriers between the mobile home removal and construction activities and the row of mobile homes to remain closest to Atlanta Avenue. Acoustical barriers should provide a Sound Transmission Class Rating of 25 and should be situated in a manner to provide an uninterrupted continuous barrier between all mobile home removal and road construction activities. During the mobile home removal activities, the barriers should stretch from the east edge of the property to the west and zig-zag between homes where necessary. After removal of the mobile homes and prior to construction of the drive aisle within the mobile home property, the barrier can be straightened to stretch more directly from the east property line to the west property line. 5. During final design, the City shall coordinate with the affected new frontline mobile home residents (within 100 feet of the Atlanta Avenue centerline) to ensure that mechanical ventilation systems such as air conditioning are provided to maintain the interior noise standard of 45 A-weighted decibels (dBA) day-night average noise level (Ldn). 6. If cultural resources are encountered during construction-related ground-disturbing activities, all construction personnel shall be informed of the need to stop work on the project site in the event of a potential find, until a qualified archaeologist has been provided the opportunity to assess the significance of the find and implement appropriate measures to protect or scientifically remove the- find. Construction personnel shall also be informed that unauthorized collection of cultural resources is prohibited. If archaeological resources are discovered during ground-disturbing activities, all construction activities within 50 feet of the find shall cease until the archaeologist evaluates the significance of the resource. In the absence of a determination, all archaeological resources shall be considered significant. If the resource is determined to be significant, the archaeologist shall prepare a research design.and recovery plan for the resources. 7. If human remains are discovered during construction or any earth-moving activities, the County Coroner must be notified of the find immediately. No further disturbance shall occur until the County Coroner has made a determination of origin and disposition pursuant to Public Resources Code Section 5097.98. If the human remains are determined to be prehistoric, the Coroner must notify the Native American Heritage Commission (NAHC), which will determine and notify a Most Likely Descendent (MLD). The designated MLD may make recommendations to the City for means of treating or disposing of, with appropriate dignity, the human remains and any associated grave goods. 8. Upon final project design and prior to the beginning of construction, a qualified paleontologist shall review the final project plans to determine whether construction activities would affect native sediments containing sensitive paleontological resources. The qualified paleontologist shall provide his/her findings in writing and provide recommendations for further paleontological monitoring during construction if necessary. If construction activities would not disturb native sediments, no further mitigation would be required. If construction activities would occur in native sediments identified as being sensitive for paleontological resources, the qualified paleontologist shall prepare a Paleontological Resources Impact Mitigation Plan (PRIMP) consistent with the guidelines of the Society of Vertebrate Paleontology (SVP) (SVP, 1995 and 2010). The PRIMP shall include, but not be limited to, the following and shall be implemented prior to and during construction, as specified: a. Attendance at the pregrade conference by a project paleontologist or his/her representative. At this meeting, the paleontologist will explain the likelihood for encountering paleontological resources, where these resources may occur, what resources may be discovered, and the methods that will be employed if anything is discovered (see below). b. Monitoring of excavation activities by a qualified paleontological monitor in areas identified as likely to contain paleontological resources. The monitor should be equipped to salvage fossils and/or matrix samples as they are unearthed in order to avoid construction delays. The monitor must be empowered to temporarily halt or divert equipment in the area of the find in order to allow removal of abundant or large specimens. c. Because the underlying sediments may contain abundant fossil remains that can only be recovered by a screening and picking matrix, it is recommended that these sediments occasionally be spot screened through 1/8 to 1/20-inch mesh screens to determine if small vertebrate fossils exist. If small fossils are encountered, additional sediment samples (up to 6,000 pounds) shall be collected and processed through 1/20-inch mesh screens to recover additional fossils. d. Preparation of recovered specimens to a point of identification and permanent preservation. This includes the washing and picking of mass samples to recover small invertebrate and vertebrate fossils and the removal of surplus sediment from around larger specimens to reduce the volume of storage for the repository and the storage cost for the developer. e. Identification and curation of specimens into a museum repository with permanent retrievable storage. f. Preparation of a report of findings with an appended itemized inventory of specimens. When submitted to the Lead Agency, the report and inventory would signify completion of the program to mitigate impacts to paleontological resources. Approved 7-0 7. Fireworks Booths for July 2013 Recommended Action: Approve 10 fireworks,booths, operated by local non-profit groups, to sell Safe and Sane fireworks in accordance with Municipal Code Chapter 5.90 in the City of Huntington Beach. Approved 6-1 (Carchio-No) 8. Approval of appropriation for repair of Civic Center Oil Well #3 Recommended Action: Approve appropriation of$187,350 from the General Fund Equipment Replacement Rese#ves to the Equipment Replacement - Fire business unit (10040209,83000) for the Repair of Civic Center Oil Well #3. Approved 7-0 as amended by supplemental communication to remove the term "Reserves"in the funding language of the recommended action 9. Adopt Ordinance No. 3970 amending Municipal Code 14.12.010 to replace the 2005 Water Master Plan Approved for introduction February 4, 2013 - (Vote: 7-0) Recommended Action: Adopt Ordinance No. 3970, "An Ordinance of the City of Huntington Beach Amending Chapter 14.12 of the Huntington Beach Municipal Code Pertaining to Water Fees," to replace the 2005 Water Master Plan. Approved 7-0 PUBLIC HEARING 10. Approve Recirculated Mitigated Negative Declaration (MND) No. 09-001 for the Atlanta Avenue Widening Project Recommended Action: A) Set aside and vacate the January 18, 2011 certification of Mitigated Negative Declaration No. 09-001; and, B) Approve Recirculated Mitigated Negative Declaration No. 09-001 with findings for approval. 1 Speaker Approved 7-0 ORDINANCES FOR INTRODUCTION 11. Approve for introduction Ordinance No. 3971 amending the Huntington Beach Municipal Code by adding Chapter 17.77 establishing Reasonable Accommodation Procedures City Council/PFA Regular Meeting February 19, 2013 -5- Dept.ID PL13-003 Page 1 of 7 Meeting Date:2/19/2013 r . CITY OF HUNTINGTON BEACH REQUEST FOR CITY COUNCIL ACTION MEETING DATE: 2/19/2013 SUBMITTED TO: Honorable Mayor and City Council Members SUBMITTED BY: Fred A. Wilson, City Manager PREPARED BY: Scott Hess, Director of Planning and Building SUBJECT: Approve Recirculated Mitigated Negative Declaration (MND) No. 09-001 for the Atlanta Avenue Widening Project Statement of Issue: Transmitted for your consideration is Recirculated Mitigated Negative Declaration (MND) No. 09-001 to analyze the potential adverse environmental impacts of a City-initiated proposal to widen Atlanta Avenue between Huntington Street and Delaware Street to a four-lane primary arterial as designated by the General Plan Circulation Element. A Mitigated Negative Declaration (MND) was adopted by the City of Huntington Beach City Council in January 2011. A lawsuit was subsequently filed challenging the City's approval of the MND. As a result, the court required the City to set-aside approval of the 2011 MND and conduct additional environmental analysis. Financial Impact: Not applicable. Recommended Action: Motion to: A) Set aside and vacate the January 18, 2011 certification of Mitigated Negative Declaration No. 09-001; and, - B) Approve Recirculated Mitigated Negative Declaration No. 09-001 with findings for approval (Attachment No.1). Alternative Action(s): The City Council may make the following alternative motion(s): 1. Deny Recirculated Mitigated Negative Declaration No. 09-001 with findings. 2. Continue Recirculated Mitigated Negative Declaration No. 09-001 and direct staff accordingly. Analysis: A. PROJECT PROPOSAL: Item 10. - 1 HB -144- Dept. ID PL13-003 Page 2 of 7 Meeting Date:2/19/2013 Applicant: City of Huntington Beach, Public Works Department, 2000 Main Street, Huntington Beach, CA 92648 Location: Atlanta Avenue Right-of-Way (between Huntington Street and Delaware Street) Pacific Mobile Home Park (80 Huntington Street, 92648 — south side of Atlanta Avenue between Huntington Street and Delaware Street) Recirculated Mitigated Negative Declaration (MND) No. 09-001 represents a request to analyze the potential adverse environmental impacts associated with a proposal to widen Atlanta Avenue from Huntington Street to Delaware Street and bring the subject segment of Atlanta Avenue into compliance with its General Plan street classification as well as the Orange County Master Plan of Arterial Highways (MPAH). As defined in the General Plan, the primary arterial street classification provides sidewalk, curb, gutter, a bike lane, and two through lanes in each direction of travel, separated by a striped median. Currently, the subject segment of Atlanta Avenue provides one lane in each direction, a striped median, and on-street parking along a portion of the north side of the street. The only action for consideration at this time is on the Recirculated MND. Council action on Recirculated MND No. 09-001 would maintain funding for the project and would not constitute action on the project. Construction of the project also requires approval of a coastal development permit and conditional use permit, which would be scheduled for a public hearing before the Planning Commission at a future meeting. The street widening improvements will result in an additional through lane and bike lane in each direction of travel. Construction of the street widening improvements will require the acquisition of an additional 25 feet of public street right-of-way south of the centerline of Atlanta Avenue. The additional 25 feet of right-of-way would be acquired from the Pacific Mobile Home Park located immediately south of Atlanta Avenue. The acquisition would impact eight dwelling units (Unit Nos. 101, 102, 201, 301, 401, 501 and 502) within the mobile home park. The impacted residents would be relocated pursuant to the Federal Uniform Relocation Assistance and Real Property Acquisition Policies Act of 1970, as amended. In addition, the project's scope of work includes clearing and grubbing, the construction of asphalt concrete roadway, striping, curb, gutter, sidewalk, an 8-foot tall concrete block wall atop a variable height (7 ft. max.) retaining wall, landscaping (including the removal or relocation of 25 trees within the existing mobile home park), reconstruction of a 24 ft. wide drive aisle (circulation road) and two emergency access gates within the mobile home park, and utility and fire hydrant adjustment and relocation. Five utility poles and overhead lines currently located within the existing southerly parkway area will require relocation as well. B. BACKGROUND The City processed MND No. 09-001 in 2010 in order to maintain project funding and receive authorization to begin the right-of-way phase of the project. The City was required to process the environmental analysis pursuant to the California Environmental Quality Act (CEQA) in order to receive National Environmental Policy Act (NEPA) clearance from Caltrans. As such, MND No. 09-001 was approved by the City Council in January 2011 after an appeal of the Planning Commission's 2010 approval. Subsequently, the mobile HB -145- Item 10. - 2 Dept.ID PL13-003 Page 3 of 7 Meeting Date:2/19/2013 home park owner sued the City regarding the MND. As a result of the CEQA lawsuit, the court ordered the City to vacate the original MND, halt further work on the project and conduct additional environmental analysis (Attachment No. 4) as described in Section C. of this report. C. STAFF ANALYSIS AND RECOMMENDATION The court, in its decision, did not require preparation of an environmental impact report (EIR) and found many sections of the MND to be valid. It also found that by following the Federal Relocation Act, the City adequately addressed the project's impacts on the eight mobile homes and 16 residents that would be displaced due to the project. The court also identified no deficiencies with the MND sections regarding: Agriculture, Minerals, Public Services, Recreation, Biological Resources and the Mandatory Findings of Significance. However, the court ruled that additional environmental analysis was warranted to assess potential impacts in the following areas: • the in-place demolition of the eight mobile homes to be removed; • relocation of utilities and construction of the proposed block wall; • growth-inducing and traffic impacts of the proposed project with an opening year baseline; • soil subsidence, landslides and flooding impacts due to project grading with inclusion of hydrology and geotechnical/soils studies; and • impacts on the social fabric of the established mobile home park community as a result of the project's physical environmental changes. Staff retained LSA, Inc., an environmental consultant, to review the original 2011 MND and prepare and augment technical studies as well as draft the new environmental analysis in accordance with the court decision. No changes were made to the Agriculture, Minerals, Public Services, Recreation, Biological Resources and the Mandatory Findings of Significance sections as the court did not find these sections to be inadequate. As such, the impact conclusions remain the same as described in the 2011 MND. The following sections include minimal changes to update the document but did not require further analysis by the court: Hazards, Utilities, Greenhouse Gases and Cultural Resources. Impacts in each of these topical areas remain less than significant or less than significant with mitigation as originally concluded in the 2011 MND. In response to the court decision, several sections of the 2011 MND were revised. These sections include Land Use and Planning, Population and Housing, Geology/Soils, Hydrology and Water Quality, Noise, Air Quality, Traffic/Transportation and Aesthetics. In addition, several studies were updated including traffic, air quality and noise. A hydrology study, geotechnical investigation, view simulations and a Community Impact Analysis were also prepared. A discussion of the additional environmental analysis provided in the Recirculated MND in response to the court decision is provided below. Aesthetics In order to assess the potential impact that the proposed eight-foot tall block wall would have on the mobile home park community, view simulations were prepared to compare pre-project and post-project conditions. The view simulations indicate that the visual Item 10. - 3 HB -146- Dept.ID PL13-003 Page 4 of 7 Meeting Date:2/19/2013 character of the proposed condition (with the block wall) when viewed from Atlanta Avenue and from within the mobile home park is similar to the existing condition (with the existing wood fence) when viewed from Atlanta Avenue and from within the mobile home park. The view simulations also show that the mass of the proposed block wall would be minimized with landscaping, pilasters, and variation in wall height such that, from an environmental impact perspective, the project's potential impact would be less than significant. The Recirculated MND also notes that the mobile home park residents may view the block wall as a beneficial change for the community as the Park had previously applied for a conditional use permit to construct a block wall but subsequently withdrew the application due to costs. Geology/Hydrolo.q Hydrology and supplemental geotechnical studies were prepared to assess the project's potential impacts to the mobile home park. The hydrology study shows that the mobile home park would experience a small decrease in the amount of stormwater runoff flowing through the Park. In addition, the 2011 MND stated that an existing drainage catch basin would need to be relocated as a result of the project. However, the project design does not require relocation of the drainage catch basin and the hydrology study shows that the capacity of the drainage catch basin is adequate for the amount of drainage anticipated to be conveyed to the catch basin. Therefore, the Recirculated MND concludes that the project would not contribute to an increase in flooding or erosion due to runoff and no impact from relocation of the catch basin would occur. The geotechnical addendum provides a more detailed analysis of the existing soil conditions to ensure that potential impacts from unstable soil conditions, lateral spread, expansive soil and liquefaction were adequately disclosed and analyzed. The Recirculated MND states that no additional design measures are necessary to control for liquefaction, collapse potential and lateral spread. Since a portion of the site may have expansive soil characteristics, the Recirculated MND states that the unsuitable soil would be removed and replaced with suitable fill material. The fill soil would be compacted to required compaction specifications in order to achieve stable soil conditions for construction of the road and block wall. Therefore, the project, with implementation of the recommendations in the geotechnical investigation as well as standard code requirements, would have a less than significant impact on the mobile home park with respect to geology and soils. Traffic The Court concluded that the traffic analysis should include traffic conditions upon completion of the project (opening year) in addition to 2030 traffic conditions, which were included in the 2011 MND, to adequately determine project traffic impacts as well as growth-inducing impacts. An updated Traffic Impact Analysis was prepared and includes an analysis of opening year traffic conditions consistent with the Court's decision. The traffic study updates the existing conditions of the project's study intersections. The Atlanta Avenue/Huntington Street intersection was not signalized at the time the 2011 MND traffic study was prepared in 2009, but identified that the intersection would be signalized by the time the project was expected to be completed. Therefore, the existing condition in the 2011 MND traffic study categorized the intersection as unsignalized. For comparison purposes, the existing condition has been updated in the new traffic study to account for the signalization of the Atlanta Avenue/Huntington Street intersection that has since HB -147- Item 10. - 4 Dept. ID PL13-003 Page 5 of 7 Meeting Date:2/19/2013 occurred. The updated traffic study also analyzes the mobile home park entrance at Huntington Street. The inclusion of this study intersection was at the request of the mobile home park owner's representative not as a result of the Court decision. Lastly, while the 2011 MND traffic study analyzed 2030 traffic conditions for the.project study intersections with and without the project, the updated report expands upon that analysis with the inclusion of future 2030 traffic volumes for the project area roadway segments with and without the project. The additional information provided in the updated traffic analysis is consistent with the information and assumptions provided in the 2011 MND traffic study. The description and characterization of the existing traffic operations are consistent between the two studies with the exception of the traffic signal control at Atlanta Avenue and Huntington Street, which was described as a planned improvement in the 2011 MND study, but has since been completed. Similar to the 2011 MND, the Recirculated MND concludes that the proposed project would result in less than significant traffic impacts. Air Quality Because an updated traffic study was prepared, an updated air quality analysis was prepared by LSA utilizing the updated traffic data. In addition, the updated air quality analysis includes the latest ambient air quality standards and monitored emissions, 2012 construction emissions rates, fugitive dust suppression measures required by the South Coast Air Quality Management District (SCAQMD), and greenhouse gas emissions thresholds that were not available in 2009. The updated air quality analysis factored the deconstruction and removal of the eight mobile homes and utility relocation into the model. Additionally, the updated analysis refines the project disturbance area. Both the air quality analysis from the 2011 MND and the updated 2012 analysis conclude that air quality impacts would be less than significant. A mitigation measure that was adopted for the 2011 MND is no longer required since no pollutant emission threshold would be exceeded. However, the mitigation measure is included in the Recirculated MND since it would reduce construction emissions and reflects measures that would be required by Caltrans for Public Works projects. Noise Using the updated traffic data, an updated Noise Impact Analysis was prepared by LSA. The 2012 Noise Impact Analysis confirms the conclusions of the noise analysis in the 2011 MND with respect to short-term/construction impacts and expands upon the analysis of long-term noise impacts on residents of the mobile home park. The additional analysis recommends a new mitigation measure to ensure that residents within the new first row of mobile homes closest to Atlanta Avenue would not experience an interior noise standard that exceeds the City's acceptable noise standard by providing mechanical ventilation systems such as air conditioning units for those homes that would be impacted by the street noise along Atlanta Avenue. Growth Inducing Impacts The Recirculated MND states that the surrounding properties are built out or approved to maximum densities. Therefore, the additional travel lane would not provide a catalyst for development or growth in the area surrounding the one block segment of Atlanta Avenue Item 10. - 5 HB -148- Dept. ID PL13-003 Page 6 of 7 Meeting Date:2/19/2013 where the widening would occur. In addition, based on the updated traffic study, the additional capacity provided by the proposed project on Atlanta Avenue could accommodate the increase in traffic that is expected from both the proposed project and anticipated incremental traffic growth for the project's opening year (2015) as well as future year (2030). Community Impacts To address the project's potential impacts on the mobile home park community a Community Impact Analysis (CIA) was prepared. The CIA utilized demographic information to determine the level of community cohesiveness of the mobile home park. The CIA concluded that community cohesiveness of the mobile home park is relatively high when compared to that of the City of Huntington Beach and County of Orange. That being the case, the project's potential impacts were evaluated to determine whether the physical changes caused by the project would result in a disruption or division of the established mobile home park community. The project would not result in the physical division of the mobile home park community since the road widening would result in peripheral impacts to the edge of the Park as opposed to bisecting the Park. Upon completion of project construction, the mobile home park would have access and drive aisles in the same relative location as prior to construction and would not be physically divided. Circulation within the mobile home park would not be impacted, and, as discussed in the Traffic analysis of the Recirculated MND, resident access at the mobile home park entrance at Huntington Street would not be adversely affected or experience additional delay due to increased traffic on the surrounding roadway segments. In addition, as discussed in the Aesthetics analysis of the Recirculated MND, the replacement of a wood fence at the Atlanta Avenue perimeter of the mobile home park with a block wall would not result in a significant physical aesthetic degradation of the mobile home park such that the mobile home park community would be significantly disrupted or divided. Interior noise within the mobile home park would increase for the new first row of mobile homes. However, the noise impact would be mitigated such that interior noise levels would not exceed the established Huntington Beach Municipal Code standard for acceptable interior noise levels. Although the mobile home park community would experience construction impacts (i.e. — noise, air quality, utility service disruption, traffic), the impacts would be temporary, intermittent and can be mitigated to a less than significant level. As stated, impacts to the mobile home park are limited to the northern edge of the Park; no community facilities would be removed and their use would not be interrupted due to the project. Since the mobile home park would not change in terms of use, operation, or amenities provided as a result of the project, it is not anticipated that the type of households attracted to the Park would change and thus, cause a change in the community character of the Park. Based on the foregoing, it is concluded that community impacts are less than significant. D. SUMMARY xB -149_ Item 10. - 6 Dept.ID PL13-003 Page 7 of 7 Meeting Date:2/19/2013 Staff is recommending that the City Council set aside and vacate the January 18, 2011 certification of Mitigated Negative Declaration No. 09-001, and adopt Recirculated Mitigated Negative Declaration No. 09-001 for the Atlanta Avenue Widening Project because: ■ The Recirculated MND has been prepared in accordance with the California Environmental Quality Act; ® The Recirculated MND responds to the court ruling and addresses all specific environmental issues raised by the court; ® The Recirculated MND adequately addresses the environmental impacts associated with the proposed project; and ■ The Recirculated MND identifies mitigation measures to reduce the project's environmental impacts. Environmental Status: Recirculated Mitigated Negative Declaration (MND) No. 09-001 was prepared by LSA and concludes that the project, as proposed, would not result in significant adverse impacts with the incorporation of mitigation measures. Mitigation Measures were previously identified in the areas of air quality, cultural resources, biological resources, noise and population and housing. The Recirculated MND recommends additional mitigation measures in the areas of noise and cultural resources. However, the previous air quality mitigation measure is no longer required to reduce impacts to a less than significant level. However, since it was previously identified, the mitigation measure is still recommended to be implemented to reduce construction pollutant emissions. As concluded in the 2011 MND, all project impacts are less than significant or less than significant with mitigation. A public review and comment period for draft Recirculated MND No. 09-001 commenced on December 20, 2012 and concluded on January 25, 2013. During the comment period, the City received three comments letters. One letter is from the Environmental Board and states that the Board believes the environmental issues of the project have been adequately addressed in the revised document. The other letters are from the State Clearinghouse and Caltrans stating that they have no comments at this time. As such, no responses to comments are necessary and no errata to the Recirculated MND are proposed. Strategic Plan Goal: Improve the City's infrastructure Attachment(s): 1. Findings for Approval — Recirculated Mitigated Negative Declaration No. 09-001 2. Recirculated Mitigated Negative Declaration No. 09-001 3. Comment letters received during public comment period 4. Court Judgment 5. PowerPoint Presentation SH:KDC:MBB:jv Item 10. - 7 HB -1 s 0- ATTACHMENT # 1 xn -isi- Item 10. - 8 FINDINGS AND MITIGATION MEASURES RECIRCULATED MITIGATED NEGATIVE DECLARATION NO. 09-001 1. Recirculated Mitigated Negative Declaration No. 09-001 has been prepared in compliance .with Article fi of the California Environmental Quality Act (CEQA) Guidelines. It was advertised and available for a minimum public comment period of 30 days. Comments received during the comment period were considered by the City Council prior to action on the Recirculated Mitigated Negative Declaration. A total of three comment letters were received, indicating no comments on the Recirculated MND. 2. Mitigation measures avoid or reduce the project's effects to a point where clearly no significant effect on the environment will occur. Mitigation measures address construction noise and pollutant emissions and potential impacts to biological resources, cultural resources, population and housing, and roadway noise. Mitigation measures were generally designed to minimize construction related impacts within and surrounding the project area as well as ensure that relocation of the impacted residents complies with the provisions of existing federal laws enacted to ensure that people whose real property is acquired, or who move as a result of projects receiving federal funds, will be treated fairly and equitably. 3. There is no substantial evidence in light of the whole record before the City Council that the project, as mitigated through the mitigation measures, will have a significant effect on the environment. The proposed project will widen Atlanta Avenue between Huntington Street and Delaware Street to comply with the primary arterial street classification in the General Plan Circulation Element. As defined in the General Plan, the primary arterial street classification provides sidewalk, curb, gutter, a bike lane, and two through lanes in each direction of travel, separated by a striped median. Currently, the subject segment of Atlanta Avenue provides one lane in each direction, a striped median, and on-street parking along a portion of the north side of the street. Additional beneficial impacts include construction of a new ADA accessible sidewalk and Class 11 bike lane along the south side of Atlanta Avenue. The subject segment of Atlanta Avenue does not currently have an accessible sidewalk or designated bike lane. Because the current roadway narrows at the intersection of Huntington Street and Atlanta Avenue, traffic flow is often impeded when the bus makes stops at this location. In addition, bicyclists are currently forced into travel lanes due to the roadway narrowing and the existing transit stop configuration. The project would improve the current conditions with the installation of the proposed improvements and may improve traffic safety for pedestrians, bicyclists and transit users traveling within the project area. Finally, all potential adverse impacts resulting from construction and implementation of the project on the mobile home park community are less than significant or can be adequately mitigated to a less than significant level. MITIGATION MEASURES FOR ENVIRONMENTAL CONCERNS- 1. As soon as feasibly possible pursuant to all applicable laws and regulations, the City shall commence with acquisition and relocation in accordance with the provisions of the Federal Uniform Act and other applicable laws. Notification to and discussions with the impacted property owner and residents shall occur as soon as feasibly possible pursuant to the Federal Uniform Act. The City shall ensure that a relocation plan is prepared prior to final project plans and relocation is implemented in accordance with the Federal Uniform Act. Item 10. - 9 HB -152- 2. The City shall require, by contract specifications, implementation of the fallowing measures: a. All work shall be done in accordance with the "GREENBOOK" Standard Specifications for Public Works Construction, 2009 Edition, as written and promulgated by Public Works Standards, Inc. b. The construction contractor shall not discharge smoke, dust, equipment exhaust, or any other air contaminants into the atmosphere in such quantity as will violate any federal, State or local regulations. (Greenback Section 7-8.2) c. The contractor shall comply with Caltrans' Standard Specification Section 7-1.01 F and Section 10 of Caltrans' Standard Specifications (1999). d. The contractor shall apply water or dust palliative to the site and equipment as frequently as necessary to control fugitive dust emissions. e. The contractor shall spread sail binder on any unpaved roads used for construction purposes and all project construction parking areas. f. The contractor shall wash trucks as they leave the right-of--way as necessary to control fugitive dust. g. The contractor shall properly tune and maintain construction equipment and vehicles and use law-sulfur fuel in all construction equipment as provided in the California Cade of Regulations Title 17, Section 93114. h. The contractor shall develop a dust control plan documenting sprinkling, temporary paving, speed limits, and expedited re-vegetation of disturbed slopes as needed to minimize construction impacts to adjacent uses and residents. i. The contractor shall locate equipment and materials storage as far away from residential as practical. j. The contractor shall establish environmentally sensitive areas for receptors within which construction activities involving extended idling of diesel equipment would be prohibited to the extent feasible. k. The contractor shall use track out reduction measures such as gravel pads at project access paints to minimize dust and mud deposits on roads affected by construction traffic. 1. The contractor shall require that all transported loads of sail and wet materials shall be covered prior to transport, or provide adequate freeboard to reduce PMJO and deposition of particulate matter during transportation. m. The contractor shall route and schedule construction traffic to avoid peak travel times as much as passible to reduce congestion and related air quality impacts caused by idling along local roads. n. The contractor shall install landscaping as soon as practical after grading to reduce windblown particulate in the area. o. The contractor shall implement a street sweeping program with Rule 1186-compliant PM,o-efficient vacuum units on at least a 14-day frequency. p. The contractor shall abate dust nuisance by cleaning, sweeping and spraying with water, or other means as necessary. (Greenbock Section 7-8.1) HB -153- Item 10. - 10 q. The contractor shall provide a self-loading motorized street sweeper equipped with a functional water spray system. The sweeper shall clean all paved areas within the work site and all pave haul routes at least once a day. (Greenbook Section 7-8.1) 3. Prior to the onset of ground disturbance activities, the project developer shall implement the following mitigation measure which entails nesting surveys and avoidance measures for sensitive nesting and MBTA species, and appropriate agency consultation: a. Vegetation removal and construction shall occur between September 1 and January 31 whenever feasible. b. Prior to any construction or vegetation removal between February 15 and August 31, a nesting survey shall be conducted by a qualified biologist of all habitats within 500 feet of the construction area. Surveys shall be conducted no less than 14 days and no more than 30 days prior to commencement of construction activities and surveys will be conducted in accordance with California Department of Fish and Game (CDFG) protocol as applicable. If no active nests are identified on or within 500 feet of the construction site, no further mitigation is necessary. A copy of the pre-construction survey shall be submitted to the City of Huntington Beach. if an active nest of a MBTA protected species is identified onsite (per established thresholds), a 250-foot no-work buffer shall be maintained between the nest and construction activity. This buffer can be reduced in consultation with CDFG and/or U.S. Fish and Wildlife Service. c. Completion of the nesting cycle shall be determined by a qualified ornithologist or biologist. 4. The City shall require by contract specifications the following measures: a. Ensure that all construction equipment has sound-control devices. b. Prohibit equipment with un-muffled exhaust. c. Site staging of equipment as far away from sensitive receptors as possible. d. Limit idling of equipment whenever possible. e. Notify adjacent residents in advance of construction work. f. Educate contractors and employees to be sensitive to noise impact issues and noise control methods. g. Install temporary acoustic barriers between the mobile home removal and construction activities and the row of mobile homes to remain closest to Atlanta Avenue. Acoustical barriers should provide a Sound Transmission Class Rating of 25 and should be situated in a manner to provide an uninterrupted continuous barrier between all mobile home removal and road construction activities. During the mobile home removal activities, the barriers should stretch from the east edge of the property to the west and zig-zag between homes where necessary. After removal of the mobile homes and prior to construction of the drive aisle within the mobile home property, the barrier can be straightened to stretch more directly from the east property line to the west property line. 5. During final design, the City shall coordinate with the affected new frontline mobile home residents (within 100 feet of the Atlanta Avenue centerline) to ensure that mechanical ventilation systems such as air conditioning are provided to maintain the interior noise standard of 45 A-weighted decibels (dBA) day-night average noise level (Ldn). Item 10. - I I HB -154- 6. If cultural resources are encountered during construction-related ground-disturbing activities, all construction personnel shall be informed of the need to stop work on the project site in the event of a potential find, until a qualified archaeologist has been provided the opportunity to assess the significance of the find and implement appropriate measures to protect or scientifically remove the find. Construction personnel shall also be informed that unauthorized collection of cultural resources is prohibited. If archaeological resources are discovered during ground-disturbing activities, all construction activities within 50 feet of the find shall cease until the archaeologist evaluates the significance of the resource. In the absence of a determination, all archaeological resources shall be considered significant. If the resource is determined to be significant, the archaeologist shall prepare a research design and recovery plan for the resources. 7. If human remains are discovered during construction or any earth-moving activities, the County Coroner must be notified of the find immediately. No further disturbance shall occur until the County Coroner has made a determination of origin and disposition pursuant to Public Resources Code Section 5097.98. If the human remains are determined to be prehistoric, the Coroner must notify the Native American Heritage Commission (NAHC), which will determine and notify a Most Likely Descendent (MLD). The designated MILD may make recommendations to the City for means of treating or disposing of, with appropriate dignity, the human remains and any associated grave goods. 8. Upon final project design and prior to the beginning of construction, a qualified paleontologist shall review the final project plans to determine whether construction activities would affect native sediments containing sensitive paleontological resources. The qualified paleontologist shall provide his/her findings in writing and provide recommendations for further paleontological monitoring during construction if necessary. If construction activities would not disturb native sediments, no further mitigation would be required. If construction activities would occur in native sediments identified as being sensitive for paleontological resources, the qualified paleontologist shall prepare a Paleontological Resources Impact Mitigation Plan (PRIMP) consistent with the guidelines of the Society of Vertebrate Paleontology (SVP) (SVP, 1995 and 2010). The PRIMP shall include, but not be limited to, the following and shall be implemented prior to and during construction, as specified: a. Attendance at the pregrade conference by a project paleontologist or his/her representative. At this meeting, the paleontologist will explain the likelihood for encountering paleontological resources, where these resources may occur, what resources may be discovered, and the methods that will be employed if anything is discovered (see below). b. Monitoring of excavation activities by a qualified paleontological monitor in areas identified as likely to contain paleontological resources. The monitor should be equipped to salvage fossils and/or matrix samples as they are unearthed in order to avoid construction delays. The monitor must be empowered to temporarily halt or divert equipment in the area of the find in order to allow removal of abundant or large specimens. c. Because the underlying sediments may contain abundant fossil remains that can only be recovered by a screening and picking matrix, it is recommended that these sediments occasionally be spot screened through 1/8 to 1/20-inch mesh screens to determine if small vertebrate fossils exist. If small fossils are encountered, additional sediment samples (up to 6,000 pounds) shall be collected and processed through 1/20-inch mesh screens to recover additional fossils. HB -155- Item 10. - 12 d. Preparation of recovered specimens to a point of identification and permanent preservation. This includes the washing and picking of mass samples to recover small invertebrate and vertebrate fossils and the removal of surplus sediment from around larger specimens to reduce the volume of storage for the repository and the storage cost for the developer. e. Identification and curation of specimens into a museum repository with permanent retrievable storage. f. Preparation of a report of findings with an appended itemized inventory of specimens. When submitted to the Lead Agency, the report and inventory would signify completion of the program to mitigate impacts to paleontological resources. Item 10. - 13 xB -156- ATTACHMENT #2 UP; � i�� � ..z�',f�� � ���_ � � ���� f NO 7 � a . 3�x,� "mac. e R ➢z- � � � � s t - �� � � ` _�- -� "'�xv� �*' e X'T v 1. PROJECT'TITLE: Atlanta Avenue Widening Project Concurrent Entitlements: Coastal Development Permit No. 2009-001; Conditional Use Permit No.2009-019 2. LEAD AGENCY: City of Huntington Beach 2000 Main Street Huntington Beach, CA 92648 Contact: Jennifer Villasenor,AetiigSenior Planner Phone: (714)374-1661 3. PROJECT LOCATION: 80 Huntington Street(south side of Atlanta Avenue,between Huntington Street and Delaware Street)(Refer to Attachment No. I) 4. PROJECT PROPONENT: City of Huntington Beach Public Works Department 2000 Main Street Huntington Beach, CA 92648 Contact:Jonathan Claudio, Senior Civil Engineer (714)37-4-5380 5. GENERAL PLAN DESIGNATION: Atlanta Avenue:Right-of-Way Manufactured Home Park: Residential—Medium High Density— 15 units/acre(RM-15) 6. ZONING: Atlanta Avenue:Right-of-Way Manufactured Home Park: Residential Manufactured Home Park— Coastal Zone overlay(RMP-CZ) 7. PROJECT DESCRIPTION(Describe the whole action involved,including,but not limited to,later phases of the project,and secondary support,or off-site features necessary for implementation): The City proposes to widen the south side of Atlanta Avenue,between Huntington Street and Delaware Street, to comply with the primary arterial street classification in the General Plan Circulation Element(Attachment 22)., The General Plan Circulation Element designates Atlanta Avenue as a primary arterial street,both in the current and in the 2010 Circulation Plan of Arterial Hi.ghways/County Master Plan of Arterial Streets and Highways(MPAH). As defined in the General Plan,the primary arterial street classification provides sidewalk, curb,gutter, a bike lane, and two through lanes in each direction of travel,separated by a striped median. Currently,the subject segment of Atlanta Avenue provides one lane in each direction, a striped median,and on- Page 1 Item 10. - 15 HB -158- street parking along a portion of the north side of the street The mixed-use Pacific City project located immediately west of the subject site has recently widened eastbound Atlanta Avenue between I'Street and Huntington Street to its ultimate location. This has resulted in the eastbound segment of Atlanta Avenue between Huntington Street and Delaware Street as the lone remaining"choke point"on Atlanta Avenue between I't Street and Beach Boulevard. The existing"choke point"creates a 26 ft. (approx.)offset in the south curb alignment at the intersection of Atlanta Avenue and Huntington Street. Since the narrowing roadway requires motorists traveling eastbound on Atlanta Avenue to make additional motorist decisions,there is a greater potential for merging accidents and motorists inadvertently driving vehicles off of the street. The proposed street widening would alleviate this "choke point"and help to minimize accident potential and provide for improved traffic safety. Proposed Street Improvements The proposed street improvements will provide an additional through lane and bike lane in each direction of travel. In addition,the project's scope of work includes clearing and grubbing,the construction of asphalt concrete roadway, striping, curb,gutter, sidewalk,an 8-foot tall concrete block wall atop a variable height(7 ft. max.)retaining wall, landscaping(including the removal or relocation of 25 trees within the existing mobile home park),reconstruction of a 2-b24 ft.wide drive aisle(circulation road)and two emergency access gates within the mobile home park, and utility and fire hydrant adjustment and relocation, -wdsting drainage .,tes basin a4 theeemer-of Delaware Street and n+1aat Avenu In addition,five utility poles and overhead lines currently located within the existing southerly parkway area will require relocation. The ROles will be relocated approximately 25 feet to the south to allow for the widening of Atlanta Avenue SCE will transfer the existing subtransmission and distribution circuits to the new wood poles. In addition gas cable sewer,and water lines Iocated within existing City ROW and within the existing circulation road in the Pacific Mobile Home Park MMP)will be protected in-place or relocated durin proieet construction. In accordance with the City's franchise agreements,the utility companies will be responsible for the relocation and/or adjustment of their facilities, however, their physical relocation is incorporated into this environmental analysis. It should be noted that the project requires approval of a coastal development permit for development in the coastal zone and a conditional use permit for the proposed retaining wall height. Acquisition of Right-of-Way The existing public street right-of-way along the subject segment of Atlanta Avenue varies from 60 ft.wide(30 ft, north and 30 ft. south of street centerline)at Huntington Street to 85 ft.wide(55 ft.north and 30 ft. south of street centerline)at Delaware Street. Consequently, construction of the proposed street improvements will require the acquisition of an additional 25 feet of public street right-of-way south of the centerline of Atlanta Avenue (i.e.,the public street right-of-way is proposed at 55 ft. south of street centerline). The additional 25 feet of right-of-way would come from a 25 feet wide by 630 feet long(approx.) strip of land from the Pacific Mobile Home Park located immediately south of Atlanta Avenue. The acquisition of the 25 feet would impact eight manufactured/mobile homes (Unit Nos. 101, 102,201,301,302, 401, 501,and 502)within the park. The impacted residents would need to be relocated pursuant to the Federal Uniform Relocation Assistance and Real Property Acquisition Policies Act of 1970("The Uniform Act"). Y 7 t, feleeatieft it is..o*k=e.'n at tWs�ime sii*ee many st d begare the City eaii begin r-eleeatian. That is, beeause the G ae4her-izatien to pr-eeeed ef way phase befia�f:e it ean begifi iiepfiatiag with the mobile heff�e park (GE" and Nafiena4 Bn�viFeHmental Policy Aet RWIPA). After rempletion of en-x,4romftefAa1 review and enee the aifffiefizatiea te pr-Beeed with the right ef way phase is gfafited,iiegatiatien"b aeVir-e the fight of way eaft begin. if-the Gi4y sueeessfOy fiegagates land aequishi-e—with the park-ewner-,fe4eealian efthe residents wetild oeeuT at that time, Potential relocation alternatives identified in a previonsly approved Relocation Plan for the project include on-site relocation,off-site relocation to another park or conventional dwelling unit, or a monetary offer for residents who no longer choose to own a manufactured/mobile home. One Page 2 HB -159- Item 10. - 16 ,Although it is uncertain where the impacted residents would specifically be relocated, the Relocation Plan prepared in November 2011 identified a sufficient number of replacement mobile homes within the PMHP and in other mobile home parks in the City of Huntington Beach. sueh time that the r-eleeatieja site(s) ean be de�efinineE�the feleea&R would be subjee4 to em4eftfflental Y-eyiem pursuant to G.EQA. Construction Scenario It is estimated that project construction(road widening_deconstruction of mobile homes,reconstruction of on site improvements in the PMHP utility relocation and block wall construction)would take approximately six months. Once a contract is awarded,the contractor would provide a construction schedule to the City for review and approval. Although the entire project area has been previously graded,it is estimated that approximately 1,300 cubic yards of export soil and 1,800 cubic yards of import soil will be required to transition the existing grade of Atlanta Avenue, which slopes from west to east,to the"new"grades of the widened road and the reconstructed on-site improvements at the Pacific Mobile Home Park property.An additional 430 cubic yards of soil may need to be excavated and filled if portions of the under) in soil are found to be unsuitable daring construction. After the sampling for hazardous materials and their proper disposal have been completed,the eight mobile homes that would be removed by the project would be deconstructed by hand using a sawzall and other hand tools No heavy equipment other than a baud truck is anticipated to be needed to complete this task. 8. SURROUNDING LAND USES AND SETTING: The project site consists of the existing Atlanta Avenue right-of-way from Huntington Street to Delaware Street and the northern portion of the Pacific Mobile Home Park,a 2562-space mobile home park developed in the late 1950s. The project site is approximately 2.6 acres in area. The existing Atlanta.Avenue right-of-way consists of approximately 1.57 acres of the project area and the existing mobile home park property is the remaining approximately 1.03 acres of the project area. The project area is bounded by single-and multi-family residential uses to the north and east. Although the project site includes the northern portion of the Pacific Mobile Home Park,the majority of the approximately 18.24-acre park, is located immediately south of the street widening site and the Waterfront Hilton Hotel is further south beyond the mobile home park. The Pacific City mixed use project site is located west of the project area 9. OTHER PREVIOUS RELATED]ENVIRONMENTAL DOCUb7LNTATION: Caltrans-approved Preliminary Environmental Assessment(PES)Form (January,2009)and Categorical Exclusion under the National Environmental Policy Act(NEPA)(November 2010). A Miti ated Negative Declaration MND was adopted by the City of fluutin ton Beach City Council in January 2011 Subsequent to adoption of the MND in 2011 a lawsuit was filed challenging the Ci 's approval of the MND As a result of the California Environmental Qualily Act CE A lawsuit the Court required the City to set-aside approval of the 2011 MND and conduct additional environmental analvsis Specifically,the court required analysis of potential impacts from the in-place demolition of the eight mobile homes to be removed,relocation of utilities and construction of the proposed block wall; analysis of growth inducing and traffic impacts with an opening year baseline; additional analysis of potential hydrology and geoloav/soils impacts including hydrology and geotechnical/soils studies; and analysis of the potential impacts on the established mobile home park community as a result of the proiect's physical environmental changes As such this recirculated MND has been revised and updated to incorporate the additional analysis required by the court. Text that has been added is shown in bold and underlined font. Text that has been deleted is shown in strikethrough fonL Several sections of the original MND that upon review, are still valid and did not require additioual Page 3 Item 10. - 17 HB -1 60- analysis by the court have not changed. These sections include: Agriculture,Minerals,Public Services, Recreation Biological Resources and the Mandatory]Findings of Significance. The impact conclusions remain the same as described in the original MND The following sections include minimal changes or changes that were not required as part of the court decision: Hazards,Utilities,Greenhouse Gases and Cultural Resources. Impacts in each of these topical areas remain less than significant or less than significant with mitigation as or'ginally concluded in the 2011 MND. Several sections required additional substantial analysis as a result of the court decision. These sections include Land Use and Planniny,Population and Housin6,GeolagY/Soils Hydrology and Water Quality, Noise,Air Quality Traffic/Transportation and Aesthetics. In addition,several studies were updated including traffic air quality and noise A hydrolou study,geotechnical investigation,view simulations and a Community Impact Analysis were also prepared. As concluded in the 2011 MND,all proiect impacts are less than significant or less than significant with mitigation. Two mitigation measures were added in the areas of Noise and Cultural Resources. One air quality mitigation measure to address construction impacts is no longer required but is included to minimize construction emissions. 10. OTHER AGENCIES WHOSE APPROVAL IS REQUIRED (AND PERMITS NEEDED)(i.e.permits, financing approval,or participating agreement): o Caltrans: Disbursement of federal funds o Fedefal 14iglyway Adfaii3istmtionThe proposed project is anticipated to receive Federal Highway Administration(FHWA)funding to construct the project. The City has been working with Caltrans to obtain the funding and has already received authorization to proceed with the engineering and right- of-way phases. Page 4 HB -161- Item 10. - 18 ENVIRONMENTAL FACTORS POTENTIALLY AFFECTED: The environmental factors checked below would be potentially affected by this project,involving at least one impact that is a"Potentially Significant Impact"or is"Potentially Significant Unless Mitigated,"as indicated by the checklist on the following pages. ❑ Land Use/Planning ❑ Transportation/Traffic ❑ Public Services ®Population/Housing ® Biological Resources ❑ Utilities/Service Systems ❑ Geology/Soils ❑ Mineral Resources ❑ Aesthetics ❑ Hydrology/Water Quality ❑ Hazards and hazardous Materials Cultural Resources -®. Air Quality GO Noise ❑ Recreation ❑ Agriculture Resources ❑ Greenhouse Gas Emissions ❑ Mandatory Findings of Significance DETERMINATION (To be completed by the Lead Agency) On the basis of this initial evaluation: I find that the proposed project COULD NOT have a significant effect on the environment, ❑ and a NEGATIVE)DECLARATION will be prepared I find that although the proposed prcj ect could have a significant effect on the environment, there Will not be a significant effect in this case because the mitigation measures described on an attached sheet have beenadded to the project. A 11UTIGATED NEGATIVE DECLARATION will be prepared I find that the proposed project MAY have a significant effect'on the environment,and an [] ENVIRONMENTAL E WPACT REPORT is required. I find that the proposed project MAY have a"potentially significant impact"or a"potentially significant unless mitigated impact" on the environment,but at least one impact(1)has been adequately analyzed in an earlier document pursuant to applicable legal standards, and(2)has ❑ been addressed by mitigation measures based on the earlier analysis as described on attached sheets. An ENVIRON MNTAL IMPACT REPORT is required,but it must analyze only the effects that remain to be addressed. I find that although the proposed project could have a significant effect on the environment, because all potentially significant effects(a)have been analyzed adequately in an earlier EIR or NEGATIVE DECLARATION pursuant to applicable standards,and(b)have been avoided ❑ or mitigated pursuant to that earlier EIR or NEGATIVE DECLARATION, including revisions or mitigation measures that are imposed upon the proposed project,nothing further is required,-1-1 7LJ igatuSignature- re E # Date Printed Name Title Page 5 Item 10. - 19 HB -162- EVALUATION OF ENVIRONII')(LNTAL IMPACTS: I. A brief explanation is required for all answers except"No Impact"answers that are adequately supported by the information sources a lead agency cites in the parentheses following each question. A"No Impact"answer is adequately supported if the referenced information sources show that the impact simply does not apply to the project. A"No Impact" answer should be explained where it is based on project-specific factors as well as general standards. 2. All answers must take account of the whole action involved. Answers should address off-site as well as on-site, cumulative as well as project-level,indirect as well as direct,and construction as well as operational impacts. 3. "Potentially Significant Impact"is appropriate, if an effect is significant or potentially significant, or if the lead agency lacks information to make a finding of insignificance. If there are one or more"Potentially Significant Impact"entries when the determination is made, preparation of an Environmental Impact Report is warranted. 4. Potentially Significant Impact Unless Mitigated''applies where the incorporation of mitigation measures has reduced an effect from"Potentially Significant Impact"to a"Less than Significant Impact." The lead agency must describe the mitigation measures,and briefly explain how they reduce the effect to a less than significant level{mitigation measures from Section XVIII,"Earlier Analyses,"may be cross-referenced). 5. Earlier analyses may be used where, pursuant to the tiering,program EIR, or other CEQA process, an effect has been adequately analyzed in an earlier EIR or negative declaration. Section 15063(c)(3)(D). Earlier analyses are discussed in Section XVIII at the end of the checklist. 6. References to information:sources for potential impacts(e.g.,general plans,zoning ordinances)have been incorporated into the checklist. A source list has been provided in Section XVIII. Other sources used or individuals contacted have been cited in the respective discussions. 7. The following checklist has been:formatted after Appendix G of Chapter 3,Title 14,California Code of Regulations,but has been augmented to reflect the City of Huntington Beach's requirements. SAMPLE QUESTION.- Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES(and Supporting Information Sources): Impact Incorporated Impact No Impact Would the proposal result in or expose people topotential impacts ini,olving. Landslides? (Sources: 1, 6) ❑ ❑ ❑ Discussion: The attached source list explains that I is the Huntington Beach General Plan and 6 is a topographical map of the area which show that the area is located in a flat area. (Note: This response probably would not require further explanation). Page 6 HB -163- Item 10. - 20 Potentially Significant Potentially Unless Tess Than Significant Mitigation Significant ISSUES(and Supporting Information Sources): Impact Incorporated Impact No Impact L LAND USE AND PLANNING. Would the project: a) Conflict with any applicable land use plan,policy,or regulation of an agency with jurisdiction over the project (including,but not limited to the general plan,specific plan, local coastal program,or zoning ordinance) adopted for the purpose of avoiding or mitigating an environmental effect?(Sourees:1,2-5) Discussion: The proposed project involves the widening of Atlanta Avenue from Huntington Street to Delaware Street and associated improvements. The General Plan Circulation Element designates Atlanta Avenue as a primary arterial street,both in the current and in the 2010 Circulation Plan of Arterial Highways. As defined in the General Plan,the primary arterial street classification provides sidewalk,curb, gutter,a bike lane, and two through lanes in each direction of travel, separated by a striped median. Currently,the subject segment of Atlanta Avenue provides one lane in each direction,a striped median,and on-street parking along a portion of the north side of the street. The proposed project would bring the subject segment of Atlanta Avenue into compliance with its General Plan classification as well as the Orange County Master Plan of Arterial Highways(MPAH). The project is also consistent with the 2008 Regional Transportation Plan(RTP) of the Southern California Association of Governments(SCAG). Other improvements of the project include a concrete block retaining wall,which would replace an existing wood fence separating Atlanta Avenue from the existing mobile home park south of Atlanta Avenue. The concrete block retaining wall requires a conditional use permit pursuant to the Huntington Beach Zoning and Subdivision Ordinance(HBZSO), which is part of the proj ect's entitlement request and analyzed as part of the scope of the project within this document. The project also requires acquisition of an additional 25 feet of right-of-way south of Atlanta Avenue. The right-of-way would be acquired from the existing mobile home park immediately south of Atlanta Avenue and would result in the removal of eight homes from their current location in the park. The residents of the eight homes would be required to be relocated pursuant to the Federal Uniform Act and is further discussed under the Population and Housing section of this document. Finally, as the project site is located in the coastal zone,a coastal development permit is required subject to the requirements of Chapter 245 of the HBZSO. The coastal development permit is required to ensure that the project conforms to the California Coastal Act and would not be detrimental to coastal resources and access. As discussed throughout the document,the project would not cause significant environmental impacts to coastal resources and would be improving coastal access by providing a sidewalk and Class-II bike lane and improving an existing Orange County Transit Authority(OCTA) bus stop. After acquisition of 25 feet of the existing mobile home park for right-of-way,the resulting mobile home park would remain in compliance with the applicable development standards of the HBZSO such as lot size and setbacks. In addition,the resulting density of the mobile home park would be consistent with its General Plan land use designation of Residential Medium Density— 15 units per acre,even if all of the residents choose to relocate within the existing mobile home park. Based on the analysis above,the project would not conflict with any land use plan,policy or regulation adopted for the purpose of avoiding or mitigating an environmental effect. Less than significant impacts would occur. b) Conflict with any applicable habitat conservation plan or Q natural community conservation.plan?(Sources:1) .Page 7 Item 10. - 21 HB -164- Potentially Significant Potentially Unless Less Than Significant Mitigation. Significant ISSUES (and Supporting Information Sources): Impact Incorporated Impact No Impact Discussion: The project would not conflict with any applicable habitat conservation plan or natural community conservation plan as no such plan is adopted for the City of Huntington Beach. No impacts would occur. c) Physically divide an established community? ❑ 9 El (S ources:4,5) Discussion: The project area is within Census Tract 993.07.The PMHP is in Census Blocks 1005, 1006,1007,1008, 1009 1019 1020 1021 and 1022 of Census Tract 993.07(Attachment 3).Indicators that a community has a high degree of cohesion are high rates of homeownership: ethnic homogeneity; and a high percentage of elderly residents long-term residents and households of two or more people.As seen in Table LA, based on these factors,overall,the PNM is more cohesive when compared to the City and the County of Orange Data at the block level are not available for housing tenure and household size. The analysis in this section is based on a Community Impact Report that was prepared by LSA in December 2012. The PMHP was approved as a"trailer park"in July 1953 by the City of Huntington Beach Planning Commission The PMHP includes 252 units a clubhouse workout room,swimming pool.Jacuzzi,and Laundromat for use by residents Based on the indicators of community cohesion,age of the park,and availability of community facilities,it can be concluded that the PMHP is an established community. Although the project involves a street widening project, it would not result in the division of an established community. The project would widen Atlanta Avenue between Huntington Street and Delaware Street to its designated classification and improve circulation in the project area. In order to accomplish the proposed project, acquisition of 25 feet of additional right-of-way is required from the existing mobile home park immediately south of Atlanta Avenue. The road widening would result in peripheral impacts to the edge of the PM-RP as opposed to bisecting the park.and the area of the PMHP would be reduced by less than 2 percent,from approximately 18 2 ac to approximately 17.8 ac.Eight mobile homes(approximately 3 percent of the mobile homes)in the PMIIP would be removed.Upon completion of the construction,the mobile home park would have access and drive aisles in the same relative location as prior to construction and would not be physically divided. Circulation within the P1%V"would not be impacted,and,as discussed in Section VI Transportation/Traffic resident access at the mobile home park entrance at Huntington Street would not be adversely affected or experience additional delay due to increased traffic on the surroundin roadway se ments. lIn addition as discussed in Section)ML Aesthetics, the replacement of a wood fence at the Atlanta Avenue perimeter of the mobile home park with a block wall would not result in a significant physical aesthetic degradation of the mobile home park such that the mobile home park community would be significantly disrupted or divided. Interior noise within the PMIIP would increase for the new first row of mobile homes However,the noise impact would be mitigated such that interior noise levels would not exceed the established Huntington Beach Municipal Code standard for acceptable interior noise levels. Although the mobile home park community would experience construction impacts(i.e.—noise, air quality, utility service disruption,traffic), the impacts would be temporary,intermittent and can be mitigated to a less than significant level. The impacts to the PMIHP are limited to the extreme northern edge of the PMHP as such community facilities would be maintained and their use would not be interrupted due to the project. Since the PMHP would not change in terms of use,operation or amenities provided as a result of the proiect it is not anticipated that the type of households attracted to the Park would change and thus,cause a change in the Page 8 1413 -165- Item 10. - 22 Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES (and Supporting Information Sources): Impact incorporated Impact No Impact community character of the Park. Based on the foregoing,it is concluded that impacts related to physically dividing an established community are l less than significant' _ Table X.A.: Community Cohesion Indicators Percents e Owner- Elderly Residents 1 lying in Occupied White Residents Residence 12 Years Median Area Residences Residents ears old or I.on er Household Size County of Oran a 61 61 12 66 3 oersons City of Huntin on Beach 60 7 14 52 2.5 Mr-ons Census Tract 993.07 66 85 22 70 1.8 persons PMHP Census Blocks Block 1005 92 91 9 Block 1006 0 100 0 Block 1007 100 100 23 Block 1008 88 95 2 Block 1009 82 82 21 Not available at block level Block 1019 82 95 1 Block U 80 100 5 lock 1021 75 91 14 Block 1022 88 1 80 6 Source.•United States Census Bureau,2010 Census httua/factfinderleensus gov,accessed June 19.2012. PM111'=Pacific Mobile Home Park H. POPULATION AND HOUSING. Would the project: a) Induce substantial population growth in an area,either El El 0 El directly(e.g.,by proposing new homes and businesses) or indirectly(e.g.,through extensions of roads or other infrastructure)? (Sources:4&) Discussion: The project does not include new residential units or commercial and industrial uses that would induce substantial population growth. The project proposes to widen Atlanta Avenue and therefore would be increasing capacity for the road and indirectly allow for population growth. The project segment of Atlanta Avenue is the only segment between 1"Street and Beach Boulevard that has not been Wridened to its ultimate right-of-way width The proiect would relieve the"chokepoint"along Atlanta Avenue in the eastbound direction but would not increase capacity beyond one block of roadway. fn addition,the area surrounding the one block road segment is built out or approved for development at maximum allowable densities Therefore the additional capacity along Atlanta Avenue would not instigate development that a new road or road widening project may otherwise generate in an undeveloped or less developed area. newever Tthe widening project would bring the subject segment of Atlanta Avenue into compliance with its General Plan Circulation Element designation and would not induce growth that was not previously accounted for in the General Plan. Impacts would be less than significant. b) Displace substantial numbers of existing housing, ❑ necessitating the construction of replacement housing elsewhere? (Sources:4,5) Discussion: See discussion under c. c) Displace substantial numbers of people,necessitating El El El Page 9 Item 10. - 23 HB -166- Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES (and Supporting Information Sources): Impact Incorporated Impact No Impact the construction of replacement housing elsewhere? (Sources:4,5) (Discussion b&c: The proposed project involves the widening of Atlanta Avenue from Huntington Street to Delaware Street and associated improvements. To accomplish the project,acquisition of 25 feet of additional right-of--way is required on the south side of Atlanta Avenue. Along with the acquisition of this 25 feet wide by 630 feet long(approx.)strip of:land from the mobile home park immediately south of Atlanta Avenue,eight homes(Unit Nos. 101, 102,201,301, 302,401, 501,and 502)consisting of:44-16 residents(14 adults and 2 minor children)will also need to be removed in order to construct the proposed street widening project. The removal of the homes and displacement of the 44-16impacted residents is subject to the relocation requirements under the Federal Uniform Act. The Federal Uniform Act,passed by Congress in 1970,is a federal law that establishes minimum standards for federally funded programs and projects that require the acquisition of real property or displace persons from their homes,businesses,or farms.The Uniform Acts protections and assistance apply to the acquisition,rehabilitation, or demolition of real property for federal or federally funded projects. Alternatives for the relocation of the units would include on-site relocation, off--site relocation to another park or conventional dwelling unit, or a monetary offer for residents who no longer choose to own a manufactured/mobile home. Beeaiise the City antieipa�es b obtain Federal authorization to pfeeeed with the fighA of way phase befi3fe it ean begia b etiafiag with the feview a-ad enee the auther-i2afieB to pfeeeed with the right of way phase is granteE�negotiations to aeqttir-e the right of Way eaft begift. if the G The City approved a)Relocation Ilan for the pro iect that identified a sufficient number of replacement mobile homes in the City of Huntington Beach within the PM RP and in other mobile home parks Therefore,the project is not expected to necessitate construction of replacement housing elsewhere due to displaced housing or residents. In addition,the City would prepare an updated relocation plan consistent with the Uniform Act to reflect updated information regarding available mobile homes in the City. While eight homes with 44- 16 residents would not necessarily be considered a substantial relocation,in order to ensure that impacts to the 4416 residents that would require relocation is less than significant,the following mitigation measure is recommended: POP-1: s soon as feasibly possible pursuant to applicable lax+s and re-oulations, the City shall commence with acquisition and relocation.in accordance with the provisions of the Federal Uniform Act. Notification to and discussions with the.impacted residents shall occur as soon as feasibly possible pursuant to the Federal Uniform Act. The City shall ensure that a relocation plan is prepared prior to final project plans and relocation is implemented in accordance with the Federal Uniform Act. Compliance with the Federal.Uniform Act will ensure the proper and fair treatment of the mobile home park owner and displaced residents in an efficient manner during the acquisition and relocation process. With implementation of POP-1,less than significant impacts would occur. Page 10 HB -167- Item 10. - 24 Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES (and Supporting Information Sources): Impact Incorporated Impact No Impact 111.GEOLOGY AND SOILS. Would the project: a) Expose people or structures to potential substantial adverse effects,including the risk of loss,injury, or death involving: i) Rupture of a known earthquake fault,as delineated El on the most recent Alquist-Priolo Earthquake Fault Zoning Map issued by the State Geologist for the area or based on other substantial evidence of a known fault?(Sources:1,8,9) Discussion: See discussion under b. ii) Strong seismic ground shaking?(Sources:1,8,9) ® ❑ Discussion: See discussion under b. iii) Seismic-related ground failure, including ❑ El 19 El liquefaction? (Sources:1,8,9) Discussion: See discussion under b. iv) Landslides? (Sources:1,4Fl3) El Discussion: See discussion under b. b) Result in substantial soil erosion, loss of topsoil,or El Z changes in topography or unstable soil conditions from excavation,grading, or fill? (Sources:l,8�,9 ) Discussion a,b&d: The project includes the widening of Atlanta Avenue from Huntington Street to Delaware Street and associated improvements. The project site is not identified as an area of potentially unstable slope areas in the General Plan Environmental Hazards Element and is not within the Alquist-Priolo Earthquake Fault Zone. The nearest active fault is the Newport-Inglewood fault located approximately 0.8 mile northeast of the project site. Based upon the City's' .,r Plan(Fig fe to 12) a3ad G te,.w..• l r puts Stt J=Subsurface Investigation Report(March 2009)prepared for the proiect_ high poteff-t4al for e"ai3siye weak silty clays that underlay the eastern portion of the project site should be removed to a depth of 2 ft below the 14rading plane and replaced with approved granular soil in order to support the roadway because thev are expansive as defined by the 2010 California Building _Code(CBC) For the wall the silty clays should be removed to a minimum depth of 3 ft and replaced with lean concrete or imported granular soil. Therefore, approximately 430 cy of soil may have to be exported,and an equal volume of soil imported in order to make the pro4ect area stable enon h to withstand potential seismic ground shaking.The fill soils would be placed in eight-inch maximum thick lavers and mechanically compacted to required soil compaction specifications. Seismic related liquefaction is not a concern because 80 percent of the project area lies outside the designated Page 11 Item 10. - 25 HB -168- Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES (and Supporting Information Sources): Impact Incorporated Impact No Impact liquefaction zone based on a review of the CDMG Seismic Hazard Map for the Newport Beach Quadrangle Furthermore,the project would not significantly raise the water table in the area and,as such no further site specific liquefaction analysis and mitigation would be required based on a review of the California Geological Society(CGS)Guidelines for Evaluating and Mitigating Seismic Hazards. In addition,the pfejea site is iii an afea with a low petefAW fer li"efftetien(Geaer-al Plan FiguFe EN-7+. The project site is located in the seismically active region of Southern California. Therefore,the site could be subjected to strong ground shaking in the event of an earthquake. The proposed development would be required to comply with the California Building Code(CBC),which includes regulations for projects to be designed to withstand seismic forces. In addition,the project kreqaired4a prepared a site specific geotechnical investigation,including subsurface exploration and laboratory testing,to further evaluate the . nature and engineering characteristics of the underlying soils. The report will-provides recommendations for the design and construction of the project, including recommendations to address liquefaetioft.. expansive soil potential. Adherence to the seismic design and construction parameters of the CBC,the City's Municipal Code and recommendations outlined in a site specific geotechnical investigation,would ensure protection of the project from impacts associated with seismic activity. Less than significant impacts would occur. The project site has been previously graded and developed with roadway,drainage facilities,walkways and landscaped areas. Although the proposed proj ect has the potential to result in erosion of soils during construction activities,erosion will be minimized by compliance with standard City requirements for submittal of an erosion control plan, for review and approval by the Department of Public Works. In the event that unstable soil conditions occur on the project site due to previous grading,excavation, or placement of fill materials,these conditions would be remedied pursuant to the recommendations in the faded-geotechnical study for the project site. Less than significant impacts would occur. c) Be located on a geologic unit or soil that is unstable,or ® ❑ that would become unstable as a result of the project, and potentially result in on or off-site landslide, lateral spreading, subsidence,liquefaction or collapse? (Sources:l,64, -38,9) Discussion: Refer to response under items a.&b.for discussion of liquefaction and landslides. Subsidence is large-scale settlement of the ground surface generally caused by withdrawal of groundwater or oil in sufficient quantities such that the surrounding ground surface sinks over a broad area. Withdrawal of groundwater,oil, or other mineral resources would not occur as part of the proposed project and,therefore,subsidence is not anticipated to occur. However, in the event of an earthquake in the Huntington Beach area,the site may be subject to ground shaking as discussed in item b.above. The CBC and associated code requirements address lateral spreading aftd subsidence. Less than significant impacts are anticipated. Lateral spreading occurs when the underlying soil laver is saturated. Lateral spread potential was calculated at the eastern end of the project area where groundwater was encountered during boring testing Per the California Geological Society(CGS SP117A) lateral spread mitigation is required if the calculated lateral spread potential is 0 5m or greater. The lateral spread potential calculated for the project area was 0 2m Therefore impacts would be less than significant and no mitigation would be required. Collapse potential was determined from the consolidation curves that were performed on the sand and clay materials from the project site A collapse potential of one percent or greater would indicate a geotechnical concern The consolidation curve for the sand indicates that the collapse potential is zero. Page 12 HB -169- Item 10. - 26 Potentially Significant P otentially Unless Less Than Significant Mitigation Significant ISSUES (and Supporting Information Sources): Impact Incorporated Impact No Impact The consolidation carve for the clay indicates that the collapse potential is 0.05 percent,wbich is not considered significant. Tberefore,impacts would be less than significant and no mitigation is r aired. d) Be located on expansive soil, as defined in Table 18-1-B of the Uniform Building Code(1994),creating substantial risks to life or property? (Sources:1,6 8,432) Discussion: .Based upon the proiect's subsurface geotechnical investigation,silty clay was identified in borings at the easternmost portion of the proiect area near Delaware Street. The low R-value and designation "CL"indicate that these soils are expansive as defined by. the CDC. The existing topography in the proiect area slopes to the east toward Delaware Street. Based on the proiect's conceptual design,minimal excavation would be required to achieve the proposed grades in this area. _However,if these weak silty clays are encountered for the sebgrade for the street or the bearing soils for the Rroposed block wall they would be removed and replaced with suitable fill material as recommended in the geotechnical report Therefore,impacts due to substantial risks to life or property as a result of expansive soil would be less than significant e) Have soils incapable of adequately supporting the use of ❑ ❑ septic tanks or alternative waste water disposal systerns where sewers are not available for the disposal of wastewater(Sources:1,404, -3-) Discussion: The project does not involve new uses or development that would increase wastewater necessitating alternative wastewater disposal systems or soils capable of supporting them. No impacts would occur. M HYDROLOGY AND WATER QUALITY. Would the project: a) Violate any water quality standards or waste discharge requirements? (Sources:4,10-5.,114) Discussion: The project involves the widening of Atlanta Avenue from Huntington Street to Delaware Street and associated improvements. The project does not involve new residential, commercial or industrial uses that would generate a source of additional stormwater runoff that would exceed capacity of the existing storm drain system nor would it be a source of a substantial amount of additional polluted runoff. Surface runoff along the south side of Atlanta Avenue,along the mobile home park frontage,will continue to flow easterly towards the existing storm drain system at Delaware Street. Drainage in the mobile home park is conveyed via a network of concrete v-gutters and flows southerly to an existing sump system within the park and then out to the existing public storm drain system at tlanta Avenue. The street widening-Mll require grading that may result in minor changes to the existing site elevation due to the relocation of the curb and gutter. Likewise,the reconstruction of the on-site drive aisle within the existing mobile home park will require grading work to transition from the"new"grades of the street widening to the existing elevations of the park. Ultimately,however,the storm water will continue to drain as it does today. Existing site conditions,including the amount of impervious area, site elevations,and drainage patterns would generally be the same upon completion of the project. Since the project site is greater than one acre, the project is subject to the provision of the General Construction Activity Stormwater Permit of the State Water Resources Control Board(SWRCB). The City Page 13 Item 10. - 27 HB -170- Potentially Significant Potentially Unless Less Than and Supporting Information Sources): Significant Mitigation Significant ISSUES ( pP ) Impact Incorporated Impact No Impact must submit a Notice of Intent(NOI)to the SWRCB for coverage under the Statewide General Construction Activity Stormwater Permit and must comply with all applicable requirements,including preparation of a Stormwater Pollution Prevention Plan(SWPPP) and applicable National Pollution Discharge Elimination System(NPDES)regulations. The SWPPP will establish Best Management Practices(BMPs)for construction of the facility, including source,site and treatment controls to be installed and maintained at the site. In addition, all construction activities would comply with the City's Grading Manual and the Grading and Excavations Chapter of the Huntington Beach Municipal Code(HBMC). These guidelines include specifications to minimize the effects from erosion during construction. Therefore, compliance with the Statewide General Construction Activity Stormwater Permit and all applicable codes,would ensure impacts on water quality would be less than significant. b) Substantially deplete groundwater supplies or interfere substantially with groundwater recharge such that there would be a net deficit in aquifer volume or a lowering of the local groundwater table level(e.g.,the production rate of pre-existing nearby wells would drop to a level which would not support existing land uses or planned uses for which permits have been granted? (Sources:4,10-,114) Discussion: The project does not propose new residences or commercial or industrial uses that would require additional water demand that would substantially deplete groundwater supplies. The project would require minimal water for landscaping irrigation. The amount of post-construction impervious surface would remain the same as pre-project conditions(71%paving and buildings;29%landscaping) and therefore,would not interfere with groundwater recharge such that there would be a lowering of the groundwater table or aquifer volume. Less than significant impacts would occur. c) Substantially alter the existing drainage pattern of the El site or area,including through the alteration of the course of a stream or river,in a manner which would result in substantial erosion or siltation on or off-site? (Sources:4,10-5,114) Discussion: See discussion under d. d) Substantially alter the existing drainage pattern of the 0 site or area,including through the alteration of the course of a stream or river, or substantially increase the rate or amount or surface runoff in a manner which would result in flooding on or off-site? (Sources:4,105,114) Discussion c& d: The project involves the widening of Atlanta Avenue from Huntington Street to Delaware Street and associated improvements. The entire project site,which includes the segment of Atlanta Avenue proposed to be widened and the existing northern portion of the mobile home park south of Atlanta Avenue, has been previously graded. The project would not result in a significant change in existing topographical conditions or site elevations such that the existing drainage pattern would be altered resulting in substantial erosion and siltation on or off-site. In addition.,the amount of post-construction impervious area relative to pervious area would remain the same as pre-project conditions. Page 14 HB -171- Item 10. - 28 Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES (and Supporting Information Sources): Impact Incorporated Impact No Impact As discussed in the Hydrology Study(March 2012) there are three watersheds in the proiect area. As in_ the existing condition storm water in the western half of the PAID(Watershed 1 in the Hydrology Study)would drain south to the southern boundary of the PMHP and ultimately to a 78-inch storm drain main in Atlanta Avenue. Storm water flows in the eastern half(Watershed 2 would drain east to the grassy drainage along Delaware Street and then into a catch basin at the southwest corner of Atlanta Avenue and Delaware Street to the underground storm drain system. The widened Atlanta Avenue (Watershed 3)would drain east to this catch basin as well. The capacity of this catch basin is approximately 26 cubic feet per second(cfs) and the storm water runoff from Watersheds 2 and 3 with the proposed proiect under the 100-year storm would be approximately 24 cfs. The portion of the PMHP that would be converted to roadway and sidewalk would drain to Atlanta Avenue. 'Therefor storm water flows within the PMHP would decrease Although storm water runoff within the mobile_ home park would decrease; overall the proiect would result in a slight increase in runoff within the widened rieht-of-way(Watershed 3) As indicated the existing catch basin has sufficient capacity to accommodate flows from the widened right-of-way. In addition a stormwater treatment BMP in compliance with NPDES requirements(such as a vegetated swale)would be implemented to effectively treat the runoff prior to entering the catch basin. Based on the conclusions of the Hydrology Study and Ggiven that the site conditions(ratio of pervious to impervious area)and elevations would remain relatively unchanged,an increased rate or amount of surface runoff that could result in on or off-site flooding is not anticipated to occur. Impacts would be less than significant. e) Create or contribute nmoff water which would exceed the capacity of existing or planned stormwater drainage systems or provide substantial additional sources of polluted runoff? (Sourees:4,10S,11�) Discussion: See discussion under a&d. f) Otherwise substantially degrade water quality? ® [, (S ources:4,10-5,114) Discussion: See discussion under a. g) Place housing within a 100-year flood hazard area as mapped on a federal Flood Hazard Boundary or Flood Insurance Rate Map or other flood hazard delineation map? (Sources:l27) Discussion: See discussion under j. h) Place within a 100-year flood hazard area structures El which would impede or redirect flood flows? (Sources:12-7) Discussion: See discussion under j. i) Expose people or structures to a significant risk of loss, Page 15 Item 10. - 29 HB -172- Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES (and Supporting Information Sources): Impact Incorporated Impact No Impact injury or death involving flooding, including flooding as a result of the failure of a levee or dam? (Sources:4,1_0;5,114) Discussion: See discussion under j. j) Inundation by seiche,tsunami,or mudflow? (Sources:l) 19 El Discussion g—j: The project involves the widening of Atlanta Avenue from Huntington Street to Delaware Street and associated improvements. The project site is located in FEMA flood zone X and would not place housing or structures within a 100-year flood hazard area. The nearest flood control channel is located approximately 1,700 feet from the project site and would not pose a significant risk for potential flooding on the project site. The proj ect site is mapped as a moderate tsunami run-up area in the Environmental Hazards Element of the General Plan. However the project does not propose new commercial or industrial uses or residences that would expose a substantial number of people to inundation by tsunami, seiche or mudflow. Impacts would be less than significant. k) Potentially impact stormwater runoff from construction ❑ 19 activities? (Sources:4,10S,114) Discussion: See discussion under a. 1) P otentially impact stormwater runoff from post E3 El 9 El - construction activities? (Sources:4Jg5,114) Discussion: See discussion under a& d. m) Result in a potential for discharge of stonmwater ❑ 9 pollutants from areas of material storage,vehicle or equipment fueling,vehicle or equipment maintenance (including washing),waste handling,hazardous materials handling or storage, delivery areas, loading docks or other outdoor work areas? (Sources:4,105,114) Discussion: The project does not include new uses that would involve vehicle or equipment fueling or maintenance,waste handling,storage,delivery areas or loading docks and outdoor work areas. Althougli. project construction may include vehicle and equipment maintenance,material storage and outdoor work areas, the project is required to follow existing requirements for construction to ensure that impacts to water quality during construction would be less than.significant. See discussion under a&d. Discussion: See discussion under a& d. o) Create or contribute significant increases in the flow velocity or volume of stormwater runoff to cause environmental harm? (Sources:4,1_05,114) Discussion: See discussion under a& d. p) Create or contribute significant increases in erosion.of Page 16 HB -173- Item 10. - 30 Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES(and Supporting Information Sources): Impact Incorporated Impact No Impact the project site or surrounding areas? ❑ ❑ ® ❑ (Sources:4, &S,114) Discussion: See discussion under a&d. V. AIR QUALITY. The city has identified the significance criteria established by the applicable air quality management district as appropriate to make the following determinations. Would the project: a) Violate any air quality standard or contribute ❑ .R❑ Big ❑ substantially to an existing or projected air quality violation? (Sources:139) Discussion: See discussion under e. b) Expose sensitive receptors to substantial pollutant ❑ 90 9® ❑ concentrations? (Sources:I39) Discussion: See discussion under e. c) Create objectionable odors affecting a substantial ❑ ❑ 9 ❑ number of people? (Sources:139) Discussion: See discussion under e. d) Conflict with or obstruct implementation of the ❑ ❑ ® ❑ applicable air quality plan? (Sources:139) Discussion: See discussion under e. e) Result in a cumulatively considerable net increase of ❑ ❑ ® ❑ any criteria pollutant for which the project region is non- attainment under an applicable federal or state ambient air quality standard(including releasing emissions which exceed quantitative thresholds for ozone precursors)? (Sources:l39) Discussion a—e: The project involves the widening of Atlanta Avenue from Huntington Street to Delaware Street and associated improvements including new curb,gutter,sidewalk,landscaping, and retaining wall. The City of Huntington Beach is located within the South Coast Air Basin,which is regulated by the South Coast Air Quality Management District(SCAQMD). The entire Basin is designated as a national-and State-level nonattainment area for O7.one, i (GO),respirable particulate matter(PM,o) and fine particulate matter(PM2.5). Sensitive receptors in the area include residents in nearby developments to the north,south and east. The nearest sensitive receptors would be residents of the existing mobile home park from which the project proposes to acquire right-of-way. These residents are within.50 feet of the projects construction boundary. The analysis in this section is based one- ,T =r-22 the Air Quality Repe Analysis(December 2012) prepared for the ro'ect. Au Air uali Re ort was revrousl reared for the Page 17 Item 10. - 31 HB -174- Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES (and Supporting information Sources): Impact Incorporated Impact No Impact Atlanta Avenue Widening Project in November 2009. However,since an undated traffic impact analysis was required as a result of a court decision,an updated air quality analysis was prepared utilizing the updated traffic data. In addition the updated air quality analysis includes the latest ambient air quality standards and monitored emissions 2012 construction emissions rates,and greenhouse gas emissions thresholds that were not available in 2009(Refer to Section XVH Greenhouse Gas Emissions). Substantively,the updated air quality analysis accounts for the deconstruction and removal of eight mobile homes that will be removed as part of the proiect,utility relocations,and refines the proiect disturbance area. Both the 2009 air quality analysis and the updated 2012 analysis conclude that air quality impacts will be less than significant. The 2009 report modeled construction emissions without the inclusion of fugitive dust suppression measures required under SCAQMD Rules 402 and 403. The modeline for the updated report included these measures and no thresholds were exceeded.In addition, the 2009 report overstated the disturbance area during construction(5 ac total and 1 ac as a daily maximum). Because the proiect required Caltrans approval,it is required to comply with the "GREENBOOK"Standard Specifications for Public Works Construction listed in Mitigation Measure AQ-1. Therefore,this measure is included in this recirculated document. Air Quality Management Plan(AQMP) The project is designed to bring the subject segment of Atlanta Avenue into compliance with the General Plan designation and County of Orange Master Plan of Arterial Highways(MPAH). The Orange County Transit Authority(OCTA)is a member of the Southern California Association of Governments(SCAG)and is responsible for administering the MPAH. For a proiect to be consistent with the AQMP adopted by the SCAQMD,the pollutants emitted from the proiect should not exceed the SCAQMD daily threshold or cause a significant impact on air quality,or the proiect must already have been included in the AOMP projection However,if feasible mitigation measures are implemented and shown to reduce the impact level from significant to less than significant a proiect may be deemed consistent with the ROMP.As shown in the table below,the proposed proiect would not generate any emissions that exceed the SCAQMD's thresholds.Therefore the proposed proiect is consistent with the regional AOMP.Sintee additi -,F.-Jeets tha�afe eensmis4eR4 with the Genefal Plan afe generadly considered to be eevsistefft with Construction Emissions Construction emissions were calculated based on localized and regional significance thresholds for certain pollutants. The table below provides a summary of the project's construction emissions compared to the SCAQMD thresholds of significance. Page 18 HB -175- Item 10. - 32 Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES (and Supporting Information Sources): Impact Incorporated Impact No Impact SCAQNM Pollutant Emission Thresholds of Significance Emissions(Lbs/day) CO ROG NOx PMIo PM�s'- SO, Estimated Construction Emissions for proposed <l 35.0 5.0 33.8 6.6 2.5 rp oiect — Regional SiggMeance 550 75 100 150 55_ 150 Threshold Exceed Threshold? NO NO NO NO NO NO Localized Si"ificance NIA Threshold 962 NSA 131 7 5 Exceed Threshold? NO NO NO NO Total PM10 and PM2.5 daily emission rate with implementation of furtive dust suppression measures required under SCAOMD Rules 402 and 403 The project would not result in an exceedence of any regionally significant thresholds,or localized significance thresholds(LST). LSTs are developed based on the ambient concentrations of a pollutant for each source receptor area and the distance to the nearest sensitive receptor to determine a project's localized air quality impacts. The SCAQMD has developed LSTs for projects 5 acres or less in total area. The City of Huntington Beach is in the North Coastal Orange County source receptor area. The project is required to comply with SCAQMD Rule 403—Fugitive Dust to control construction emissions. In addition,implementation of the following mitigation measure would reduce construction emissions to a less the ."e--l . AQ-1: The City shall require, by contract specifications, implementation ofthe following measures: o All work shall be done in accordance with the "GREENBOOK"Standard Spec f cations far Public Works Construction, 2009 Edition, as written and promulgated by Public Works Standards, Inc. o The construction contractor shall not discharge smoke, dust, equipment exhaust, or any other air contaminants into the atmosphere in such quantity as will violate any federal, State or local regulations_ (Greenbook Section 7-8.2) o The contractor shall comply with Caltrans'Standard Specification Section 7-I.01F and Section 10 of Caltrans'Standard Specifications (1999). o The contractor shall apply water or dustpalliative to the site and equipment as frequently as necessary to control fugitive dust emissions. o The contractor shall spread soil binder on any unpaved roads used far construction purposes and all project construction parking areas. o The contractor shall wash trucks as they leave the right-of-way as necessary to control fugitive dust. o The contractor shallproperly tune and maintain construction equipment and vehicles and use low-sulfur fuel in all construction equipment as provided in the California Code of Regulations Title 17, Section 93114. o The contractor shall develop a dust control plan documenting sprinkling, temporary paving, speed limits, and expedited revegetation of disturbed slopes as needed to minimize construction impacts to adjacent uses and residents. o The contractor shall require that all transported loads of soil and wet materials shall be coveredprior to Page 19 Item 10. - 33 HB -176- Potentially Significant Potentially Unless less Than Significant Mitigation Significant ISSUES (and Supporting Information Sources): Impact Incorporated Impact No Impact transport, or provide adequate freeboard to reduce PM10and deposition ofparticulate matter during transportation. o The contractor shall route and schedule construction traffic to avoid peak travel times as much as possible to reduce congestion and related air quality impacts caused by idling along local roads_ o The contractor shall install landscaping as soon as practical after grading to reduce windblown particulate in the area o The contractor shall implement a street sweeping program with Rule 1186-compliant PM10-efcient vacuum units on at least a 14-day .frequency. o The contractor shall abate dust nuisance by cleaning, sweeping and spraying with water, or other means as necessary. (Greenbook Section 7-8.1) o The contractor shall locate equipment and materials storage as far away from residential as practical. o The contractor shall establish environmentally sensitive areas for receptors within which construction activities involving extended idling of diesel equipment would be prohibited to the extent feasible. o The contractor shall use track out reduction measures such as gravel pads at project access points to minimize dust and mud deposits on roads affected by construction traffic. o The contractor shall provide a self-loading motorized street sweeper equipped with a functional water spray system. The sweeper shall clean all paved areas within the work site and all pave haul routes at least once a day. (Greenbook Section 7-8.1) Sinee the Read Genstfuetiea Model fef —Ssians does aet have buih in emissions below the t 1. ld and to a less+1.a s nifi a t 1e..e1_ Post-construction/Long-term emissions Typically,road widening projects are not assumed to have significant long-term air quality impacts. The project is not a development project that would introduce new residential,commercial or industrial uses that would be an indirect source of air quality pollutants. The proposed project would improve existing traffic operations and alleviate an existing"choke point" on eastbound Atlanta Avenue improving circulation and reducing potential vehicle queuing and idling. The"stop-and-go"speeds associated with the"choke point"and. vehicle queuing are generally the largest source of vehicle emissions. Since the project would alleviate these issues,concentration of vehicle exhaust in the area may also be reduced. The primary mobile source pollutant of local concern for a roadway proiect is carbon monoxide(CO), which is a direct function of vehicle idlinLy time and thus,traffic flow conditions. Typically,biab CO concentrations are associated with roadways or intersections operating at unacceptable LOS or with extremely high traffic volumes. As detailed in the Air Ouabty Analysis all CO concentrations at intersections in the Proiect vicinity would be below the federal and State CO standards,and project-related increases would be 0.1_parts per million(ppm) or less in both the Project Completion Year(201 and the Design Year(2030).Because no CO hot spots would occur,the proposed project would not have a significant impact on local air quality for CO,and no mitigation measures would be required.Therefore,the project would result in less than significant long-term/operational impacts to air quality. Odors Objectionable odors from the project may result during construction from equipment exhaust as well as from Page 20 HB -177- Item 10. - 34 Potentially Significant Potentially Unless Less Than Significant Mitigation . Significant ISSUES (and Supporting Information Sources): Impact Incorporated Impact No Impact installation of the asphalt paving. However,construction is anticipated to last approximately six months. In addition, odor emissions would disperse rapidly from the site and would not cause significant effects affecting a substantial number of people. Odors from vehicle exhaust emissions after completion of the street widening would likely be less than pre-project conditions as the project would eliminate a point of congestion and reduce vehicle idling,thereby reducing the concentration of objectionable odors from vehicle exhaust in the project area. Less than significant impacts would occur. The project,with implementation ofAQ-1,would not violate any air quality standard or contribute substantially to an existing or projected air quality violation. In addition,since the project,.,i �'^", would not result in an exceedence of established thresholds,the project would not result in exposure of sensitive receptors to substantial pollutant concentrations. As the project is consistent with the AQMP and w4& mi igatieiq�does not result in an exceedence of thresholds for non-attainment pollutants and ozone precursors NOx and VOC, it would not result in cumulatively considerable impacts to air quality and less than significant impacts would occur. VI.TRANSPORTATION/TRAFFIC. Would the project: ❑ ❑ ® ❑ a) Conflict with an applicable plan, ordinance or policy establishing measures of effectiveness for the performance of the circulation system,taking into account all modes of transportation including mass transit and non-motorized travel and relevant components of the circulation system,including but not limited to intersections,streets,highways and freeways, pedestrian and bicycle paths,and mass transit? (S ources:l46) Discussion: See discussion under b. b) Conflict with an applicable congestion management ❑ ❑ ® ❑ program, including,but not limited to level of service standards and travel demand measures,or other standards established by the county congestion management agency for designated roads or highways? (S ources:146) Discussion a& b: The proposed proj ect involves the widening of Atlanta Avenue from Huntington Street to Delaware Street and associated improvements. The subject segment of Atlanta Avenue from Huntington Street to Delaware Street is designated as a primary arterial in the General Plan Circulation Element and Orange County Master Plan of Arterial Highways (1vIPAH). As defined in the General Plan,the primary arterial street classification provides sidewalk, curb,gutter,a bike lane,and 2 through lanes in each direction of travel, separated by a striped median. The proposed project would bring the subject segment of Atlanta Avenue into compliance with its primary arterial designation of the General Plan and MPAH. The subject segment of Atlanta Avenue is also an existing Orange County Transit Authority(OCTA)transit route. The current transit activity turning from Huntington Street and stopping on Atlanta Avenue is constrained due to the substandard width of the existing roadway,the tight turning radius at the southeast corner of Atlanta Avenue and Huntington Street, and the presence of cyclists who share the roadway on this segment of Atlanta Avenue. Widening the roadway to provide 2 eastbound travel lanes and a designated bike Page 21 Item 10. - 35 HB -178- Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES (and Supporting Infonnation Sources): Impact Incorporated Impact No Impact lane will help to reduce the impacts of the existing bus stop(located approx. 100 ft.east of Huntington Street),atsdimprove the ability of the roadway to accommodate bus turns and increase bicycle connectivity along Atlanta Avenue consistent with the City General Plan Circulation Element Bicycle]Platt. During construction,there may be some vehicle delay during various stages of the project. In addition, construction traffic from track haul trips and workers entering and exiting the project site would add to the existing traffic conditions. However,project construction would be temporary lasting up to six months and is required to implement a traffic control plan,subject to review and approval by the Department of Public Works,during construction to minimize disruption to motorists within the project area. The project would require soil import and export and,at most,would require approximately 345 total haul trips(based on a nine cubic yard truck capacity), which could result in 10—30 truck trips per day depending on the construction schedule. The number of haul trips would be considered in the traffic control plan and measures to reduce air quality would require that the haul trip schedule avoid peak traffic times. The requirement for a traffic control plan as well as the relatively minimal number of daily trips would not result in significant impacts to traffic during construction such that the level of service on Atlanta Avenue and surrounding streets would be impacted. A traffic analysis was prepared for the proposed project by Austin Foust Associates in March,2009. The analysis studied three intersections within or adjacent to the project area:Atlanta Avenue/First Street;Atlanta Avenue/Huntington Street,and Atlanta Avenue/Delaware Street. As discussed in the project description,a court decision on the previously approved Mitigated Negative Declaration for the project required additional traffic analysis Specifically,the Court concluded that the analysis should include traffic conditions upon completion of the orodect a enin ear in addition to 2030 traffic conditions which were included in the 2009 traffic study,to adequately determine project traffic impacts as well as growth-inducing impacts As such an updated Traffic Impact Analysis was prepared in December 2012 and includes an analysis of opening ear traffic conditions consistent with the Court's decision. The December 2012 report also updates the existing conditions of the project's study intersections. The Atlanta Avenue/Huntin tan Street intersection was not si nalized at the time the 2009 traffic study was prepared but identified that the intersection would be signalized by the time the proposed project was proiected to be completed Therefore the existing condition in the 2009 traffic study categorized the intersection as unsignalized For comparison purposes,the existing condition has been updated in this report to account for the signalization of the Atlanta Avenue/JEluntington Street intersection that has since occurred This updated traffic impact report also analyzes the mobile home park entrance at Huntington Street The inclusion of this study intersection was at the request of the mobile home park owner's representative not as a result of the Court decision Lastiv,while the 2009 traffic study analyzed 2030 traffic conditions for the project study intersections with and without the project,this report expands upon that analysis with the inclusion of future 2030 traffic volumes for the project area roadway segments with and without the project. The additional information provided in the updated traffic analysis is consistent with the information and assumptions provided in the 2009 study The description and characterization of the existing traffic operations are consistent between the two studies with the exception of the traffic signal control at Atlanta Avenue and Huntington Street which was described as a planned improvement in the 2009 study,but has since been completed. Currently,Tthe intersections of Atlanta Avenue and First Street and Atlanta Avenue/Runtington street is ire 1 ignal-A e s nalized. The other two study intersections are currently unsignalized. The AtImta Page 22 HB -1 79_ Item 10. - 36 Potentially Significant Potentially . Unless Less Than Significant Mitigation Significant ISSUES (and Supporting Information Sources): Impact Incorporated Impact No Impact The study analyzed traffic impacts with and without the project for existing conditions opening year conditions(2015)and build-out conditions of the year 2030. The performance criteria used were based on peak hour intersection volumes. Intersection capacity utilization(ICU)values were calculated for each of the AM and PM peak hours. The ICUs represent volume to capacity(v/C)ratios for these time periods and,with their associated level of service(LOS),provide an adequate measure of performance. The analysis concluded that the widening project will improve the performance of the project's study intersections. For instance, without the widening project,the Huntington Street/Atlanta Avenue intersection would operate at LOS F for the year 2030 scenario. With the project,the intersection would operate at LOS A. In addition,the Outhboand a roach dela at the Delaware Street/Atlanta Avenue intersection would operate at LOS F and �.r v a sag. fieaRt in 2030 without the proiect in both peak hours. With the project,the intersection would operate at LOS E in the AM peak hour and would still operate at LOS F in the PM peak hour,but experience a substantially reduced delay in both the AM and. PM peak hours. The Traffic Impact Analysis also analyzed the roadway segments of Atlanta Avenue(Huntington Street to Delaware Street) and Huntinl1ton Street(Atlanta Avenue to PMHP entrance). In the No Proiect condition the Atlanta Avenue sep_went would Operate at an unsatisfactory LOS in 2015 and 2030.With the project,both roadway segments would operate at satisfactory LOS in 2015 and 2030.Therefore,less than significant impacts would occur. In addition,the overall traffic operations as a transit corridor will be enhanced with the proposed street widening by minimizing delays and the associated impacts. c) Result in a change in air traffic patterns,including either an increase in traffic levels or a change in location that results in substantial safety risks? (Sources:15+) Discussion: The proposed project involves the widening of Atlanta Avenue from Huntington Street to Delaware Street and associated improvements. Although the City is located within the Airport Environs Land Use Plan for Joint Forces Training Base Los Alamitos,the project will not result in the development of new structures or buildings that would interfere with existing airspace or flight patterns. No impacts would occur. d) Substantially increase hazards due to a design feature (e.g., sharp curves or dangerous intersections) or incompatible uses? (Sources:4,146) Discussion: See discussion under e. e) Result in inadequate emergency access? El (Sources:4,146) Discussion d& e: The proposed project involves the widening of Atlanta Avenue from Huntington Street to Delaware Street and associated improvements. In addition to providing additional vehicular travel lanes,the project will remove an existing"choke point"at the intersection of Atlanta Avenue and Huntington Street, which will reduce existing traffic hazards and)minimize vehicular conflicts,thereby improving emergency access within the project area. The project will also improve the safety of bicyclists and pedestrians by Page 23 Item 10. - 37 HB -180- Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES (and Supporting Information Sources): Impact Incorporated Impact No Impact constructing a designated bike lane and sidewalk that currently do not exist within the subject segment on the south side of Atlanta Avenue. An existing fire lane and two emergency access gates within the existing mobile home park will be moved and reconstructed in the same location(relative to the property line)within the mobile home park. Atlanta Avenue will remain open during construction and a traffic control plan,which will address emergency access,is required to be implemented during construction. Less than significant impacts would occur. f) Result in inadequate parking capacity? (Sources:4,1416) El Discussion: The project does not propose new structures or uses that would generate additional parking demand within the project area resulting in inadequate parking capacity. During project construction,workers will park at a designated staging area,subject to approval by the Department of Public Works,to avoid impacting existing on-street parking spaces on the north side of Atlanta Avenue. The project does not propose to remove any on-street parking spaces nor will any common parking spaces within the mobile home park be removed. No public parking lots or required coastal access parking will be utilized for the project. Less than significant impacts would occur. g) Conflict with adopted policies,plans, or programs El El regarding public transit,bicycle, or pedestrian facilities, or otherwise decrease the performance or safety of such facilities? (Sources:4,146) Discussion: The proposed project involves the widening of Atlanta Avenue from Huntington Street to Delaware Street and associated improvements. These improvements include construction of a new ADA accessible sidewalk,Class 11 bike lane and a nei CTA bus stop along the south side of Atlanta Avenue. The subject segment of Atlanta Avenue does not currently have a sidewalk or designated bike lane. The bus stop is existing,but does not meet current OCTA transit stop standards. Because the current roadway narrows at the intersection of Huntington Street and Atlanta Avenue,traffic flow is often impeded when the bus makes stops at this location. In addition,bicyclists are currently forced into travel lanes due to the roadway narrowing and the existing transit stop configuration. The project would improve the current conditions with the installation of the proposed improvements and would improve traffic safety for pedestrians,bicyclists and transit users traveling within the project area. Less than significant impacts would occur. VII. BIOLOGICAL RESOURCES. Would the project: a) Have a substantial adverse effect,either directly or ❑ El ❑ 0 through habitat modifications,on any species identified as a candidate,sensitive, or special status species in local or regional plans,policies,or regulations,or by the California Department of Fish and Game or U.S,Fish and Wildlife Service? (Sources:l,4) Discussion: See discussion under e. b) Have a substantial adverse effect on any riparian habitat ❑ El El 9 or other sensitive natural community identified in local or regional plans,policies,regulations, or by the California Department of Fish and Game or US Fish and Wildlife Service? (Sources:l,4) Page 24 HB -181- Item 10. - 38 Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES(and Supporting Information Sources): Impact Incorporated Impact No Impact Discussion. See discussion under e. c) Have a substantial adverse effect on federally protected 0 wetlands as defined by Section 404 of the Clean Water Act(including,but not limited to,marsh,vernal pool, coastal,etc.)through direct removal,filling, hydrological interruption,or other means? (Sources:1,4) Discussion: See,discussion under e. d) Interfere substantially with the movement of any native 0 El 11 resident or migratory fish or wildlife species or with established native resident or migratory wildlife corridors or impede the use of native wildlife nursery sites? (Sources:1,4) Discussion: See discussion under e. e) Conflict with any local policies or ordinances protecting ❑ biological resources,such as a tree preservation policy or ordinance? (Sources:1,2,4) Discussion.: The proposed project involves the widening of Atlanta Avenue from.Huntington Street to Delaware Street and associated improvements. The project area consists of existing roadway and a mobile home park. These uses have been existing since the 1920s and 1950s respectively. The project site does not consist of riparian or sensitive habitat and there is no potential for wetlands to occur within or adjacent to the project area. In addition,the site is not delineated on any federal, state or local maps as a wetlands area. The project does not have the potential to impact the habitat of special status species. The project proposes to remove existing landscaping within the project area along Atlanta Avenue and within the mobile home park. Existing landscaping along Atlanta Avenue consists of primarily non-native species and no trees are proposed for removal along Atlanta Avenue. A total of 25 trees, including several Monterey pines, would be either removed from or relocated within the mobile home park. The project is subject to a standard requirement for the replacement of any existing mature healthy trees to be removed within the mobile home park at a 2:1 ratio. Existing vegetation adjacent to the project area is limited to parkway trees and landscape planters across Atlanta Avenue, approximately 40 feet from the project area. All existing vegetation outside the project area will not be removed or impacted by the proposed street widening project. Vegetation removal and construction vehicle traffic may result in the disturbance of nesting species protected by the Federal Migratory Bird Treaty Act(MBTA). The MBTA protects over 800 species,including geese, ducks, shorebirds, raptors,songbirds,and many relatively common species. Although existing trees within and near the project site may contain nesting areas for birds,the project site does not serve as a wildlife corridor or habitat linkage as it is essentially isolated vegetation within an urbanized area. Notwithstanding,the Federal Migratory Bird Treaty Act protects migratory birds and their occupied nests and eggs and as such,any vegetation removal should occur outside of the bird-nesting season. To ensure that the project complies with the MBTA and impacts would be less than significant,the following mitigation measure is recommended: BYO-l: Prior to the onset of ground disturbance activities, the project developer shall implement the following mitigation measure which entails nesting surveys and avoidance measures for sensitive nesting and MBTA Page 25 Item 10. - 39 HB -182- Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES (and Supporting Information Sources): Impact Incorporated Impact No Impact species, and appropriate agency consultation. Nesting habitat for protected or sensitive species: 1) Vegetation removal and construction shall occur between September 1 and January 31 whenever feasible. 2) Prior to any construction or vegetation removal between February 15 and August 31, a nesting survey shall be conducted by a qualified biologist of all habitats within 500 feet of the construction area. Surveys shall be conducted no less than 14 days and no more than 30 days prior to commencement of construction activities and surveys will be conducted in accordance with California Department of Fish and Game(CDFG)protocol as applicable. If no active nests are identified on or within 500 feet of the construction site, no further mitigation is necessary. A copy of the pre-construction survey shall be submitted to the City of Huntington Beach. If an active nest of a MBTA protected species is identified onsite(per established thresholds), a 250 foot no-work buffer shall be maintained between the nest and construction activity. This buffer can be reduced in consultation with CDFG andJor U.S. Fish and Wildlife Service, 3) Completion of the nesting cycle shall be determined by a qualified ornithologist or biologist. With implementation of standard code requirements and the recommended mitigation measure,which ensures compliance with the NMTA, less than significant impacts would occur. f) Conflict with the provisions of an adopted Habitat El El El Conservation Plan,Natural Community Conservation Plan,or other approved local,regional,or state habitat conservation plan? (Sources:l) Discussion: There is no Habitat Conservation Plan,Natural Community Conservation Plan, or other approved local,regional, or state habitat conservation plait for the area;therefore,no impacts are anticipated. VHL MINERAL,RESOURCES. Would the project: a) Result in the loss of availability of a known mineral El ❑ El 191 resource that would be of value to the region and the residents of the state? (Sources:1) Discussion: See discussion under b. b) Result in the loss of availability of a locally important ❑ El El 9 mineral resource recovery site delineated on a local general plan,specific plan, or other land use plan? (Soarces:1) Discussion a&b: Although Huntington Beach has been the site of oil and gas extraction since the 1920s,oil production has decreased over the years, and today, oil producing wells are scattered throughout the City. The proposed project involves the widening of Atlanta Avenue from Huntington Street to Delaware Street and associated improvements. The project site is not designated as a known or important mineral resource recovery site in the General Plan or any other land use plan. In addition,the project area has been used as a road since at least 1927 and the mobile home park was developed in the 1950s. A Phase 1 Environmental Site Assessment Page 26 HB -183- Item 10. - 40 Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES (and Supporting Information Sources): Impact Incorporated Impact No Impact conducted by WorleyParsons in October 2009,indicates that no current or former oil wells are present at the site and there is no evidence of the release of petroleum products within the project area. Therefore, the proposed project will not result in the loss of a known mineral resource or a mineral resource recovery site. No impacts would occur. IX.HAZARDS AND 14AAZARDOUS MATERIALS. Would the project: a) Create a significant hazard to the public or the El ❑ ❑ environment through the routine transport,use,or disposal of hazardous materials? (Sources:4,317,18) Discussion: See discussion under c. b) Create a significant hazard to the public or the El El ® Q environment through reasonably foreseeable upset and accident conditions involving the release of hazardous materials into the environment? (Sources:4,517,18) Discussion: See discussion under c. c) Emit hazardous emissions or handle hazardous or ® [� acutely hazardous material, substances, or waste within one-quarter mile of an existing or proposed school? (Sources:4,-517,18) Discussion a—c: The nearest school,Peterson Elementary School,is approximately half a mile from the project site. In addition,the project does not propose new structures or uses that will involve the routine transport,use or disposal of hazardous materials. The project does not provide on-site fuel dispensing, underground, or outdoor storage of hazardous materials. Hazardous or flammable substances that would be used during the construction phase include vehicle fuels and oils in the operation of heavy equipment for onsite excavation and construction. Construction vehicles may require routine or emergency maintenance that could result in the release of oil, diesel fuel,transmission fluid or other materials. The proposed construction. operation including but not limited to deconstruction of the eight mobile bomes to be removed,would be required to comply with all State and local regulations to minimize risks associated with accident conditions involving the release of hazardous materials. Polychlorinated biphenyls (PCBs)are a hazardous material known to be present within certain utility transformers. However,the risk of release of hazardous material is generally only a concern if a transformer is not fully enclosed or leaking. A search of the U.S. EPA's PCB Transformer At istration Database did not identi the existence of utili transformers containine PCBs within the ro'ect area. In addition any hazardous materials will be handled and disposed of in accordance with applicable State and federal regulations. According to the Phase I Environmental Site Assessment(WorleyParsons,October 2009)prepared for the project,the project site does not have any evidence of dumping, landfrlling, stained soils,distressed vegetation, or other evidence suggesting the possible release of hazardous substances. However, because the site has been historically used as a roadway,it was concluded that aerially deposited lead(ADL)from automobile exhaust could be present in shallow soils. As such a Phase 11 Environmental Site Assessment was recommended to determine the nature and extent of ADL in the on-site soils so that the soil can be properly managed(either Page 27 Item 10. - 41 HB -184- Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES (and Supporting Information Sources): Impact Incorporated Impact No Impact reused on-site or disposed of)in accordance with State regulations. In March 2010, a Phase II Environmental Site Assessment to investigate for the presence of ADL was conducted for the project. The Phase II site investigation included soil borings and hand augering of varying depths to collect soil samples for laboratory analysis. Based on the laboratory analysis,concentrations of ADL in the soil would not have to be classified as Resource Conservation and Recovery Act(RCRA)hazardous waste. Therefore,the on- site soils may be re-used on site,pursuant to Department of Toxic Substance Control(DTSC)protocols, or,if removed and disposed of off-site,would not be classified as RCRA-hazardous waste. Other metals and contaminants found to be present in the soil,such as arsenic,were representative of background concentrations and would not pose significant human health risks above comparison levels. Discovery of additional soil contamination during ground disturbing activities is required to be reported to the Fire Department immediately and the approved work plan modified accordingly in compliance with City Specification#431-92. All,fill soil(on-site and imported) shall meet City Specification#431-92—Soil Cleanup Standards and would be submitted to the Fire Department for review and joint approval with the Public Works Department prior to issuance of a grading permit. With implementation of standard City specifications and other applicable State and federal requirements, less than significant impacts would occur. d) Be located on a site which is included on a list of El 9 hazardous materials sites compiled pursuant to Government Code Section 65962.5 and, as a result, would it create a significant hazard to the public or the environment? (Sources:17) Discussion: The project site is not listed on the State's Hazardous Waste and Substance Site List. According to the Phase I Environmental Site Assessment the project site is not listed on any regulatory database of hazardous sites. No impacts would occur. e) For a project located within an airport land use plan or, ❑ El where such a plan has not been adopted,within two miles of a public airport or pubic use airport,would the project result in a safety hazard for people residing or working in the project area? (S0urces:Ifl) Discussion: See discussion under f. f j For a project within the vicinity of a private airstrip, would the project result in a safety hazard for people residing or working in the project area? (Sources:4,15) Discussion e&f: The project area is not within the vicinity of a private airstrip. Although the City is located within the Planning Area for the Joint Force Training Center,Los Alamitos,the project site is not Iocated within the height restricted boundaries identified in the Airport Environs Land Use Plan or within two miles of any known public or private airstrip. In addition,the proposed project does not propose any new structures with heights that would interfere with existing airspace or flight patterns. No impacts would occur. Page 28 HB -1 s5- Item 10. - 42 Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES(and Supporting Information Sources): Impact Incorporated Impact No Impact g) impair implementation of or physically interfere with an ❑ ❑ © ❑ adopted emergency response plan or emergency evacuation plan? (Sources:1) Discussion: The project involves the widening of Atlanta Avenue from.Huntington Street to Delaware Street and associated improvements. The proposed project will not impede access to the surrounding area both during construction and after the project is complete. .Primary access to the adjacent mobile home park is located on Huntington Street and will not be impacted by the proposed project. There are two gated emergency access drives to the mobile home park on Atlanta Avenue that are not used by residents. These access drives are proposed to be removed and relocated to the same location on the site as part of the project. In addition, Atlanta Avenue will remain open during construction To minimize impacts during construction, a traffic control plan is required to be implemented during construction. The project will not impair implementation of or physically interfere with any adopted emergency response plan or evacuation plan. Less than significant impacts would occur. h) Expose people or structures to a significant risk of loss, ❑ ❑ ❑ injury, or death involving wildland fires,including where wildlands are adjacent to urbanized areas or where residences are intermixed with wildlands? (Sources:l,4) Discussion: The project area includes Atlanta Avenue, a primary arterial in the City, and an existing mobile home development adjacent to Atlanta Avenue. There are no wildlands within or surrounding the project area. No impacts would occur. X. NOISE. Would the project result in: a) Exposure of persons to or generation of noise levels in ❑ ®43 ❑9 ❑ excess of standards established in the local general plan or noise ordinance, or applicable standards of other agencies? (Sources:l6§) Discussion: See discussion under d. b) Exposure of persons to or generation of excessive ❑ ❑ © ❑ groundborne vibration or groundborne noise levels? (Sources:l6S) Discussion: See discussion under d. c) A substantial permanent increase in ambient noise levels ❑ ❑ 0 ❑ in the project vicinity above levels existing without the project? (Sources:165) Discussion: See discussion under d. ❑ ❑ ® ❑ Page 29 Item 10. - 43 HB -1 s6- Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES (and Supporting Information Sources): Impact Incorporated Impact No Impact d) A substantial temporary or periodic increase in ambient noise levels in the project vicinity above levels existing without the project? (Sources:114,165) Discussion a—d: The proposed project involves the widening of Atlanta Avenue from Huntington Street to Delaware Street and associated improvements. The associated improvements include replacement of an existing wood fence with a concrete block wall separating Atlanta Avenue from the mobile home park. Residential uses surround the project site to the north, south and east. A noise study report was prepared for the project by the Chambers Group in April 2010. In December 2012,an updated Noise Impact Analysis was prepared by LSA The 2012 Noise Impact Analysis confirms the conclusions of the previous noise study with respect to short-term/construction impacts and expands upon the analysis of long-term noise impacts on residents of the mobile home park The additional analysis is summarized in this section under Long-term/Operational Noise. Short-term/Construction Noise Construction of the proposed project would increase noise and vibration levels in the vicinity of the project area. Construction noise and vibration would be temporary(lasting up to six months)and intermittent depending on the type of equipment being used and the stage of construction. Intermittent noise levels during construction activities could reach up to 459 decibels(dBA)Whieh is an iftefease of up to 25 dBevef e 'stiBg levels. Chapter 8.40—Noise of the Huntington Beach Municipal Code(HBMC)exempts noise related to construction provided all construction activities occur between the hours of 7:00 AM and 5:00 PM Monday- Saturday. Construction activities are prohibited Sundays and Federal holidays. The proposed project,would be required to follow standard protocols for public works projects and construction activities would occur Monday—Friday between the hours of 7:00 AM and 4:00 PM,which is more restrictive than the City's Noise Ordinance. Therefore,impacts from noise and vibration during construction would be considered less than significant. Even though construction noise impacts are less than significant,the following measures are recommended to reduce the annoyance construction noise can have on residents surrounding the project site. NOISE-1: The City shall require by contract specifications the following measures: o Ensure that all construction equipment has sound-control devices. o Prohibit equipment with un-muffled exhaust. o Site staging of equipment as far away from sensitive receptors as possible. o Limit idling of equipment whenever possible. o Motify adjacent residents in advance of construction work. o Educate contractors and employees to be sensitive to noise impact issues and noise control methods. o Install temporary acoustic barriers between the mobile home removal and construction activities and the row of mobile homes to remain closest to Atlanta Avenue. Acoustical barriers should provide a Sound Transmission Class Rating of 25 and should be situated in a manner toprovide an uninterrupted continuous barrier between all mobile home removal and road construction activities. During the mobile home removal activities, the barriers should stretch from the east edge of the property to the west and zig-zag between homes where necessary. 4fter removal of the mobile homes andprior to construction of the drive aisle within the mobile home property, the barrier can be straightened to stretch more directly from the east property line to the west property line. Lone-tenn/Operational Noise Traffic noise levels were predicted using the Federal Highway Administration(FH'WA)Traffic Noise Prediction Model and were evaluated under existing conditions,Year 2015 conditions with and without the Page 30 HB -187- Item 10. - 44 Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES (and Supporting Information Sources): Impact Incorporated Impact No Impact project,and Year 2030 conditions^ +w^••++,,^ ^ ^�,d&th and without the project. The model included existing noise barriers such as existing fencing at surrounding sites as well as the proposed concrete block fetainiagwall for the Year 2015 and Year 2030 With Project scenario. For CEOA analysis a substantial increase is a level that is"readil�ceable b- the human ear in an outdoor environment,"which is usually considered to be 3 dBA or more. Based on the analysis in the Noise Repe Impact Analysis(December 2012),#affie velumes-associated with the prope ^''r-ej^^+w ul NAEexterior noise levels at the PMHP would not exceed the City's exterior noise standard with the proposed block wall in place Other residences in the project vicinity would not be impacted either.€qT watild oeeuf. Similarly, long-term vibration impacts generally associated with traffic volumes and traffic noise levels would not be substantial.alse be less+w.,,-, sigff tee^=t However, even with the block wall in place, mobile home units that are within 100 ft of the roadway centerline Units 202 402 403 503 504• Attachment 4 would be exposed to traffic noise exceeding the Ci 's interior noise standard with _windows open These units would need to be provided with mechanical ventilation systems such as air- conditioning to be able to close the windows and maintain the interior noise standard of 45 dBA Ldn. This requirement is specified in Mitigation Measure NOISE-2.With'implementation of Mitigation Measure NOISE-2 interior noise impacts would be less than significant. NOISE-2: During anal design the City shall coordinate with the affected new frontline mobile home residents(within.100 feet of the Atlanta A venue centerline)to ensure that mechanical ventilation systems such as air-conditionine are provided to maintain the interior noise standard of 45A-weighted decibels (dBA) day-night average noise level(Ldn). e) For a project located within an airport land use plan or, where such a plan has not been adopted,within two miles of a public airport or public use airport,would the project expose people residing or working in the project area to excessive noise levels? (Sources:154-) Discussion: See discussion under f. f) For a project within the vicinity of a private airstrip, ❑ 19 would the project expose people residing or working in the project area to excessive noise levels? (Sources:4,15+) Discussion e&f: The proposed project involves the widening of Atlanta Avenue from Huntington Street to Delaware Street and associated improvements. The project is not within two miles of public airport or a private airstrip. Although the City is located within the Airport Environs Land Use Plan for Joint Forces Training Base Los Alamitos, the project will not result in the development of new structures or buildings that would expose people residing or working in the area to excessive noise levels. No impacts would occur. XI.PUBLIC SERVICES. Would the project result in Page 31 Item 10. - 45 HB -1 ss- Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES (and Supporting Information Sources): Impact Incorporated Impact No Impact substantial adverse physical impacts associated with the provision of new or physically altered governmental facilities,the construction of which could cause significant environmental impacts, in order to maintain acceptable service ratios,response times or other performance objectives for any of the public services: a) Fire protection? (Sources:1,I92-2) [l Discussion: See discussion under e. b) Police Protection? (Sources:l,I.92-2) Discussion: See discussion under e. c) Schools? (Sources:l,l92-2) ] Discussion: See discussion under e. d) Parks? (Sources:I,l922) ] Discussion: See discussion under e. e) Other public facilities or governmmental services? El (Sources:l,l92-2-) Discussion a—e. The project involves the widening of Atlanta Avenue from Huntington Street to Delaware Street and associated improvements including relocation of two existing fire hydrants on Atlanta Avenue. The project does not propose new structures or uses that would significantly increase the demand for public services including schools,parks and libraries. The project reduces existing traffic hazards and includes design features to minimize vehicular conflicts. Improvements in the function of the roadway will also serve to maintain or improve acceptable response times. Atlanta Avenue will remain open during construction,however,access may be limited at times throughout project construction. A traffic control plan,which accounts for emergency access,is required to be implemented during construction. Existing emergency access gates and a fire access lane within the existing mobile home park would be reconstructed on-site in their current configuration. Therefore,less than significant impacts are anticipated. XH. UTILITIES.AND SERVICE SYSTEMS. Would the project: a) Exceed wastewater treatment requirements of the applicable Regional.Water Quality Control Board? (Sources:4-5) Discussion: See discussion wader e. Page 32 HB -1 s9- Item 10. - 46 Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES (and Supporting Information Sources): impact Incorporated Impact No impact b) Require or result in the construction of new water or ❑ ❑ ❑ 9 wastewater treatment facilities or expansion of existing facilities,the construction of which could cause significant environmental effects? (Sources:45) Discussion: See discussion under e. c) Require or result in the construction of new storm water ❑ ❑ © ❑ drainage facilities or expansion of existing facilities,the construction of which could cause significant environmental effects? (Sources:4,195-,22) Discussion: See discussion under e. d) Have sufficient water supplies available to serve the ❑ ❑ n ❑ project from existing entitlements and resources, or are new or expanded entitlements needed? (Sources:4-5) Discussion: See discussion under e. e) Result in a determination by the wastewater treatment ❑ ❑ ❑ 21 provider which serves or may serve the project that it has adequate capacity to serve the project's projected demand in addition to the provider's existing commitments? (Sources:45) Discussion a—e&h: The project involves the widening of Atlanta Avenue from Huntington Street to Delaware Street and associated improvements. These improvements include new curb and gutter and relocation of existing utilities along the south side of Atlanta Avenue. Existing overhead utilities will be relocated 25 feet to the south during roiect construction while underground utilities would be either protected in-place if possible or relocated within the project site. Disruption of service may occur during utility relocation However,the disruption would be temporary,limited to daytime working hours and eenerally not exceed one day. Southern California Edison customers could experience service disruption up to three days as the power is transferred from the old lines to the new lines. Affected residents and customers would be notified 72 hours in advance of any utility service disruption and would be provided a 24-hour emerp-ency contact number. In addition, customers with special needs such as for medical a ui meat and devices would be accommodated during any temporary disruption,as needed. Stormwater within the project area will continue to drain to the existing public storm drain system in Delaware Street and Atlanta Avenue.No new residential,commercial or industrial uses oustructures are proposed that would generate additional wastewater beyond the current conditions necessitating expansion or construction of new wastewater treatment facilities. In addition,the project will not result in the creation of new stormwater drainage or treatment facilities beyond the required stormwater BMPs that are contemplated as part of the rp oiect nor will it create a significant demand for water usage beyond that which currently exists for the project area. The project will require water for landscape irrigation,however proposed landscaping will replace existing landscaping and would be required to comply with the City's Water Efficient Landscape Ordinance. Less than significant impacts would occur Page 33 Item 10. - 47 HB -190- Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES (and Supporting Information Sources): Impact Incorporated Impact No Impact f) Be served by a landfill with sufficient permitted capacityEl ® ❑ to accommodate the project's solid waste disposal needs? (Sources:l) Discussion: See discussion under g. g) Comply with federal,state,and local statutes and regulations related to solid waste? (Sources:1) Discussion f&g: The project involves the widening of Atlanta Avenue from Huntington Street to Delaware Street and associated improvements and does not propose new waste generating uses that would contribute additional solid waste. Some amount of solid waste may be generated from project construction. The nearest landfill is the Frank R.Bowerman Landfill located in the City of Irvine. The landfill has a remaining capacity in excess of 30 years based on the present solid waste generation rates. The project will not noticeably impact the capacity of the existing landfill. In addition,waste from construction of the project is required to comply with all regulations related to solid waste including City specification No.431-92,which provides for the proper disposal of contaminated soils. Less than significant impacts are anticipated. h) Include a new or retrofitted storm water treatment control Best Management Practice(BMP), (e.g. water quality treatment basin,constructed treatment wetlands?) (Sourees:4,19&,22_) Discussion: See discussion under item e above. X1U. AESTHETICS. Would the project: a) Have a substantial adverse effect on a scenic vista? ❑ 191 (Sources:1,4) Discussion: b) Substantially damage scenic resources, including,but 191 not limited to,trees,rock outcroppings, and historic buildings within a state scenic highway? (Sources:l,4) Discussion: c) Substantially degrade the existing visual character or quality of the site and its surroundings? (Sources:1,4, 21,22 Discussion a—c: The project involves the widening of Atlanta Avenue from Huntington Street to Delaware Street and associated improvements. The project area is not within a State-designated or eligible scenic highway nor does it constitute a scenic vista. In addition,the project will not damage existing scenic resources including rock outcroppings or historic buildings. Atlanta Avenue is designated as a landscape corridor in the Circulation Element of the General Plan.. The project will involve the removal of existing landscaping on Page M HB -191_ Item 10. - 48 Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES (and Supporting Information Sources): Impact Incorporated Impact No impact Atlanta Avenue although new landscaping and street trees are proposed as part of the project. The new landscaping is required to comply with City landscape requirements for street trees and parkways. Although the project proposes to remove 25 trees from within the mobile home park, some trees may be able to be preserved and relocated on site,and all mature,healthy trees that are removed are required to be replaced at a 2:1 ratio. Removal and relocation of the trees requires approval by the Planning and Building and Public Works Departments. The proposed project,particularly the replacement of the existing six-foot tall wood fence with an eight- foot tall block wall would result in a change in the visual character from within the mobile home park as well as from the street The proiect would also result in the relocation of existing utility poles. The utility poles would be replaced with poles equivalent in diameter to the existing poles at a similar height (within 10 feet of the existing height). View simulations of key views were prepared to show the changes to the visual character of the proiect area.Figure 5 shows the locations of the key views(Attachment 51 Fi ures 6-8 Attachment show the changes between the existing condition and the proposed condition for each of the key views. Key View 1 is looking north from Unit 104 toward Units 101 and 102.In the existing condition,Units 101 and 102 the landscaped slope,wooden fence,and two-story apartment buildings are visible on the north side of Atlanta Avenue In the proposed condition,Units 101 and 102 would be removed.The landscaped slope block wall,and one of the apartment buildings are visible. The retaining wall is within the landscaped slope.Because the block wall is closer to the viewer than the existing wooden fence, only.oat apartment building is visible The visual character of the proposed condition is similar to the existing condition. Key View 2 is looking west from the driveway access to Atlanta Avenue near Unit 401.The existin condition shows notted plants at Unit 401parked cars the la.ndsca ed slope,wooden fence,Utility oles and the apartment buildings on the north side of Atlanta Avenue.In the proposed condition,Unit 401 would be removed The proposed condition shows the landscaped slope, block wall,new street trees,and utility poles The retaining wall is within the landscaped slope.Because the block wall is closer to the viewer than the existin6 wooden fence,the apartment buildings are not visible.The visual character of the proposed condition is similar to the existing condition. Key View 3 is looking east on Atlanta Avenue at Huntington Street.The existing condition shows street landscaping utility poles,the wooden fence,and the roofs of mobile homes, The proposed condition shows the additional lane in the eastbound direction,new street landscaping,the block wall,and utility ales.The roofs of the mobile homes are not visible because the block wall is hi her than the exisfintz wooden fence at this location.The visual character of the proposed condition is similar to the existing condition. The view simulations for the three Key Views show that Aafter the project is completed,the visual character of the site will substantially be the same as it currently exists. In addition, the view simulations demonstrate that an increase in height from a six-foot tall wood fence to an eight-foot tall block wall would not result in a significant degradation of the visual character of the sites, particularly from within the mobile home park Landscape buffers,proposed pilasters and variation is wall height further reduce the visual massing of the block wall While the impact of aesthetic changes is generally subiective based on the viewer's nrefereace,THo��;since old pavement,street striping, landscaping and fencing will be replaced with new,there will be a general aesthetic enhancement of the project area. Furthermore.the mobile home ark previously applied for a conditional use permit to construct a six and a half feet tall block wall atonz the Atlanta Avenue property line but subsequently withdrew the application due to costs. To that Page 35 Item 10. - 49 HB -192- Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES (and Supporting Information Sources): impact Incorporated Impact No Impact end the proposed block wall could be regarded as a beneficial cbange for the mobile home park community. There will be a temporary degradation of the existing visual character in the area during construction. However,construction of the project is anticipated to last approximately six months and as such,impacts during construction can be considered less than significant. Less than significant impacts would occur. d) Create a new source of substantial light or glare which would adversely affect day or nighttime views in the area? (Sources:1,4) Discussion: Existing sources of light and glare in the project area include streets lights and vehicular headlights. Currently,street lights are located on utility poles and would be relocated as part of the project as shown on Figures 2 and S(Attachments 2 and 6). There would be no new street lighting beyond what currently exists as a result of the proposed project. Although the project provides for increased capacity on Atlanta Avenue,there would not be an increase in traffic as a result of the project and therefore,the project would not result in more light and glare from vehicular headlights such that impacts would be significant. Other sources of light from the project would be lights from bicycles as a result of the proposed bike lanes. This potentially new light source,since it is likely that bicyclists currently travel on the subject segment of Atlanta Avenue,would be minimal and not result in a substantial increase in light and glare in the project area_ No light standards are proposed for relocation or replacement within the mobile home park. Impacts would be less than significant. XN. CULTURAL RESOURCES. Would the project: a) Cause a substantial adverse change in the significance of El a historical Iresource as defined in 515064.5? (S ources:230,244-) Discussion. See discussion under d. b) Cause a substantial adverse change in the significance of ❑ an archaeological resource pursuant to 515064.5? (Sources:230) Discussion: See discussion under d. c) Directly or indirectly destroy a unique paleontological DI El resource or site unique geologic feature? (Sources:259) Discussion: See discussion under d. d) Disturb any human remains,including those interred ❑ outside of formal cemeteries? (Sources:230) Discussion a—d: The project involves the widening of Atlanta Avenue from Huntington Street to Delaware Street and associated improvements. The existing project area consists of roadway that has existed since 1927, Page 36 HB -193- Item 10. - 50 Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES (and Supporting Information Sources): Impact Incorporated Impact No Impact and a mobile home park that was developed in the 1950s. There are no locally significant historic structures and the project site is not listed in the General Plan Historic and Cultural Resources Element. Although the mobile home park is at least 50 years old, it has been determined by the State Office of Historic Preservation, that the mobile home park is not eligible for listing on the National Register of Historic Places. An archeological survey report was prepared by Bonterra Consulting in April 2010. The report indicates that three archeological sites(CA-ORA-l49,CA-ORA-276 and CA-ORA-1654)have been identified within a half- mile radius of the project area. In addition, based on a review of the Native American Heritage Commission (NAHC)sacred lands database, archeological literature,and historic maps,CA-ORA-149 may have extended into the project area at one time. Although existing site records place the archeological site outside of the project area, it is acknowledged that previous researchers had extended CA-ORA-149 east of Huntington Street into the Pacific Mobile Home Park site. However, it has been concluded that portions of the site east of Huntington.Street would have been destroyed by construction of the mobile home park,the existing elevation of which is 2 to 5 meters below the original site surface. This is well below the depth of the archeological deposit of CA-ORA-149 estimated at less than two meters based on deBarros' 2005 data recovery excavations for the Pacific City project. Even so,because subsurface investigation of the project area did not previously occur, it could not be concluded that CA-ORA-149 is not present on the project site. Therefore,potential exists for small pockets of CA-ORA-149 to remain under the existing mobile home park, sidewalks,and streets. Site Survey In addition to a study of existing data, a survey of the project area was conducted on May 21,2009 by Bonterra Consulting. The survey focused on determining the presence of any remaining surface expressions of CA- ORA-149 on non-asphalt covered areas south of Atlanta Avenue within the project area No previously unknown cultural resources were identified during the survey,but visibility was nearly zero as the majority of the project area is paved Since the project area is mostly paved,the survey extended to an undeveloped, unpaved area parallel to the mobile home park and Delaware Street. However,this area is covered with gravel, has undergone similar grading to the project site,and is beyond the original archeological site boundaries. Although there were no cultural resources identified during the survey and study of available data,the historic use of the area increases likelihood of finding buried cultural resources during project construction-related activities. In addition,intact resources and human burials associated with CA-ORA-149 were discovered during archeological excavations for the Pacific City project,which is east of the project area, across Huntington Street. Therefore, an Extended Phase I Report was conducted to evaluate the subsurface soils within an unpaved area of the project site(located south of the existing Atlanta Avenue and north of the northern property line of the mobile home park) and determine whether any significant cultural deposits associated with CA-ORA-149 exist within the project site. The assessment was completed in combination with the geological soil auger borings conducted by WorleyParsons for the ADL testing as well as hand excavation of shovel test pits conducted by Bouterra. The subsurface site work identified a few cultural specimens(one artifact and 15 flakes)of poor contextual integrity and that the soil has been previously filled and disturbed and does not constitute an intact portion of CA-ORA-149 or an archeological deposit. In addition,the cultural materials that were discovered during the testing would not be significant nor would they warrant formal curation since they lack original provenience(intact,primary deposits)and show evidence of mixing with modern materials. Although the results of the testing suggest that although CA-OFA-149 may have extended onto the project site,based on the soil borings and hand excavations,no primary cultural deposit remains on the project site. However,to ensure impacts to cultural resources would be less than significant,the f'gig Mmitigation Mmeasures CULT-1 and CULT-2 are recommended. An examination of geological mans indicated that the yroiect area is situated on sediments that include Page 37 Item 10. - 51 HB -194- Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES (and Supporting Information Sources): Impact Incorporated Impact No Impact Holocene Axial Channel Deposits and Pleistocene Paralic Deposits,also known as marine terrace deposits In addition it is possible that Pleistocene Alluvium may be encountered during excavation in areas mapped as Holocene Axial Channel Deposits.Both the.Pleistocene Alluvium and the Pleistocene Paralic deposits are sensitive for paleontological resources. The locality search conducted at the Natural History Museum of Los Angeles County fLACMI indicated that there are no known paleontological resources located within the proiect area, but that there are six known vertebrate localities located immediately to the southwest of the proiect area. Although no paleontological resources were identified directly within the protect area during the locality search,based on the results of the locality search and examination of geologic maps, sediments that can contain fossil exist within the proiect area Therefore,there is the potential to encounter paleontological resources durin2 Eround-disturbingactivities.The Old Paralic Deposits exposed on the western half of the proiect have a high sensitivity for containing paleontological resources.Excavations extending deeper than 8 ft beneath the surface on the eastern half of the proiect have the potential to encounter either Pleistocene Alluvium,or possibly Old Paralic Deposit sediments and are also considered to have hi h aleontolo ical sensitivity once this 8 ft depth is reached. Althou h the footing for the retaininalock wall would not exceed 8 ft below ground surface on the eastern half of the proiect area,it is possible that sensitive sediments may be encountered at shallower depths in the eastern half of the proiect especially close to the contact between the Old Paralic Deposits and Holocene Axial Channel Deposits In order to mitigate potential adverse impacts to nonrenewable paleontological resources Mitigation Measure CULT-3 is required. „,ye -are��esoxxm;eg�a. CULT-1: If cultural resources are encountered during construction-related ground-disturbing activities, all construction personnel shall be informed of the need to stop work on the project site in the event of a potential find, until a qualified archaeologist has been provided the opportunity to assess the significance of the find and implement appropriate measures to protect or scientifically remove the find. Construction personnel shall also be informed that unauthorized collection of cultural resources is prohibited. If archaeological resources are discovered during ground-disturbing activities, all construction activities within 50 feet of the find shall cease until the archaeologist evaluates the significance of the resource. In the absence of a determination, all archaeological resources shall be considered significant. Ifthe resource is determined to be significant, the archaeologist shall prepare a research design and recovery plan for the resources. CULT-2: Ifhuman remains are discovered during construction or any earth-moving activities, the County Coroner must be notified of the find immediately. No further disturbance shall occur until the County Coroner has made a determination of origin and disposition pursuant to Public Resources Code Section 5097.98. If the human remains are determined to be prehistoric, the Coroner must notes the Native American Heritage Commission(NAHC), which will determine and notes a Most Likely Descendent(MLD). The designated MLD may make recommendations to the City for means oftreating or disposing of, with appropriate dignity, the human remains and any associated grave goods. CULT-3• Upon final proiect design and Prior to the beginning of construction,a qualified paleontologist shall review the final pM ecf plans to determine whether construction activities would a fect native sediments containiniz sensitive Paleontological resources. The qualified naleontolo ist shall pravide his/her findings in writing and provide recommendations for further paleontological monitoring durin construction if necessary. If construction activities would not disturb native sediments,no further mihiQahon Page 38 HB -195- Item 10. - 52 Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES (and Supporting Information Sources): Impact Incorporated Impact No Impact _would be required If construction activities would occur in native sediments identified as being sensitive for paleontological resources the qualified paleontologist shall prepare a Paleontolo ical Resources Impact Mitigation Plan (PRIMP}consistent with the guidelines of the Society of Vertebrate Paleontology (SYP) (SYP 1995 and 2010) The PRIMP shall include but not be limited to,the following and shall be implemented prior to and during construction, as specified: • Attendance at the pregrade conference by a project paleontologist or his/her representative.Al this meeting the paleontologist will explain the likelihood for encountering paleontological resources, where these resources may occur, what resources may, be discovered and the methods that will be employed if anvthing is discovered • Monitoring of excavation activities by a qualified paleontological monitor in areas identified as likely to contain paleontological resources The monitor shall be equipped to salvage fossils and/or matrix samples as they are unearthed in order to avoid construction delays. The monitor shall be empowered to temporarily halt or divert equipment in the area of the find in order to allow removal of abundant or large specimens. • Because the underiying sediments may contain abundant fossil remains that can only be recovered by a screening and picking matrix, it is recommended that these sediments occasionally be spot screened through 118 to 1120-inch mesh screens to determine if small vertebrate fossils exist.If small fossils are encountered additional sediment samples(up to 6,000 pounds) shall be collected and processed through 1120-inch mesh screens to recover additional fossils. • Preparation of recovered specimens to a point of identification and permanent preservation. This includes the washing and picking of mass samples to recover small invertebrate and vertebrate fossils and the removal of surplus sediment from around larger specimens to reduce the volume of storage for the repository and the storage cost for the developer. • Identification and curation of specimens into a museum repository with permanent retrievable storage. • Preparation of a report of Endings with an appended itewked inventory of specimens. When submitted to th a Lead Agency the report and inventory will signify completion of the program to mitigate impacts to paleontological resources. With implementation of the proposed mitigation measures,impacts to cultural resources would be less than significant. XV. RECREATION. Would the project: a) Would the project increase the use of existing ❑ El ® El neighborhood, community and regional parks or other recreational facilities such that substantial physical deterioration of the facility would occur or be accelerated? (Sources:4,195-,2-2) Discussion: See discussion under c. b) Does the project include recreational facilities or require 11 El the construction or expansion of recreational facilities which might have an adverse physical effect on the environment? (Sources:4=5) Page 39 Item 10. - 53 xB -196- Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES (and Supporting Information Sources): Impact Incorporated Impact No Impact Discussion: See discussion under c. c) Affect existing recreational opportunities?(Sources:4-5) ❑ fl ❑ Discussion a--c: The project involves the widening of Atlanta Avenue from Huntington Street to Delaware Street and associated improvements. There may be increased use of surrounding parks during construction by workers that may utilize the parks before,during and after work. However,the proposed project does not involve the creation of new homes or businesses that would substantially increase the use of existing parks and recreational facilities beyond the construction phase. The project will not affect nor does it include expansion of existing recreational opportunities. Although the project will provide additional travel lanes on Atlanta Avenue,the additional lanes will bring the subject segment of Atlanta Avenue into compliance with its primary arterial designation of the General Plan Circulation Elements and Orange County Master Plan of Arterial Highways (MPAH)as well as provide for the forecasted build-out capacity. Therefore,the increased capacity of Atlanta Avenue is not anticipated to provide for growth not already anticipated by the General Plan. As such,the project would not require the addition or expansion of recreational facilities. Less than significant impacts would occur. XVI.AGRICULTURE RESOURCES. In determining whether impacts to agricultural resources are significant environmental effects, lead agencies may refer to the California Agricultural Land Evaluation and Site Assessment Model(1997)prepared by the California Dept. of Conservation as an optional model to use in assessing impacts on agriculture and farmland. Would the project: a) Convert Prime Farmland,Unique Farmland,or Farmland of Statewide Importance(Farmland),as shown on the maps prepared pursuant to the Farmland Mapping and Monitoring Program of the California Resources Agency,to non- agricultural use? (Sources:i) Discussion: See discussion under c. b) Conflict with existing zoning for agricultural use, or a El El ❑ 9 Williamson Act contract? (Sources:1) Discussion: See discussion under c. c) Involve other changes in the existing environment which, El El 99 due to their location or nature,could result in conversion of Farmland,to non-agricultural use? (Sources-1) Discussion a—c: The project involves the widening of Atlanta Avenue from Huntington Street to Delaware Street and associated improvements. The existing project area consists of roadway that has existed since 1927,and a mobile home park that was developed in the 1950s. The project does not propose any changes that would affect existing farmland or agricultural uses and would not result in conversion of farmland/agricultural uses as there are none within the vicinity of the project site. The site is not zoned for agricultural uses, nor is it under a Williamson Act contract. Finally,the project area is not mapped as Prime Farmland,Unique Farmland or Farmland of Page 40 HB -197- Item 10. - 54 Potentially Significant Potentially Unless Less Than. Significant Mitigation Significant ISSUES (and Supporting Information Sources): Impact Incorporated Impact No Impact Statewide Importance. No impacts would occur. XVH. GREENHOUSE GAS EMISSIONS. Would the project: a) Generate greenhouse gas emissions, either directly or ❑ ❑ ® ❑ indirectly,that may have a significant impact on the environment?(Source: 139) Discussion: The California Energy Commission calculated that in 2004,California produced 492,000,000 metric tons of carbon dioxide(CO,) emissions. On an individual basis, a project generally would not generate enough GHG emissions to create a significant impact on global climate change. For instaHee,the proposed pfejeet weuhl A project's potential impact would be its incremental contribution of GHG emissions when combined with all other GHG emission sources to cause significant cumulative impacts that could result in global climate change impacts. The proposed project has the potential to result in GHG emissions from both construction and operation of the proposed street widening. Short-term/Construction Construction GHG emissions would include emissions produced from material processing, emissions from construction equipment and vehicles,and emissions from travel delay due to construction. These emissions would be produced at different levels throughout construction. �Offi Of Cg2- . Implementation of a traffic control plan would manage traffic and reduce travel delays during construction to the extent possible. The largest source of GHG emissions during construction would occur from construction equipment exhaust. Generally,measures that are employed to reduce emissions from construction equipment would also reduce GHG emissions. Mitigation Measure AQ-1 includes measures such as limiting equipment idling time and ensuring that equipment is properly maintained that would control equipment exhaust. In addition, all construction vehicles are required to use CARB approved on-road diesel fuel,when locally available,to reduce emissions of CO,ROG and particulate matter during construction. During construction GHG emissions related to the roadway widening would be mainly from CON NCO,and CH4 contained in exbaust from off-road diesel construction equipment/vehicles(e.g.,idling and operation of backhoes cranes and drillin ri s from on-road trucks used by vendors to deliver materials to the site and on-site workers and from use of portable a ui meat a g. enerators .The short-term construction emissions were calculated using the Road Construction Emissions Model that was developed by the Sacramento Metropolitan Air Quality Management District SNM MD . The SMA MD Road Construction Emission Model is included in the models recommended by the SCA MD for roadway, Projects.The construction GHG emissions were estimated at 207.3 tons(188 metric tons)using the _SMAOMD model in conjunction with estimated vehicle/equipment usage schedules. These GHG emissions are well below significance thresholds thus far suggested(e.g..10,000 metric tons/year included in the SCAOMD-suggested idelines• 7,000 metric tons/year by the CARB). sigiiifieaaee fat:GHG erni5sienq,it is reasonable to Therefore, since the project's contribution of GHG C-9,-emissions is minor and measures would be implemented to further reduce GHG emissions during construction,impacts from GHG emissions during construction would not result in a cumulatively considerable net increase of GHG emissions and impacts would be less than significant. Long-term/Operational Page 41 Item 10. - 55 HB -198- Potentially Significant Potentially Unless Less Than. Significant Mitigation Significant ISSUES(and Supporting information Sources): Impact Incorporated Impact No Impact The project does have potential to produce GHG emissions from vehicles traveling along Atlanta Avenue. However,the highest level of GHG emissions from mobile sources,specifically carbon dioxide(CO2), occur at "stop-and-go"speeds(0—25 miles per hour). The proposed street widening project would provide for additional capacity on Atlanta Avenue but would not generate increased traffic volumes. In addition,the project would relieve congestion by enhancing operations and improving travel times. By eliminating an existing"choke point" on Atlanta Avenue,thereby reducing"stop-and-go"speeds,the project may result in reduced C�-GHG emissions. Since the proposed vroiect would reduce congestion and does not add vehicle trips,the difference in the GHG emissions in the With Project and No Project conditions would be Again Again,there is no specific threshold of significance other than to reasonably consider whether a project would result in a cumulatively considerable net increase in GHG emissions. Based on the scope of the project including the project's potential to reduce CO2GHG emissions,the project would not result in significant impacts from GHG emissions. Less than significant impacts would occur. b) Conflict with an applicable plan,policy or regulation adopted for the purpose of reducing the emissions of greenhouse ❑ ❑ ® ❑ gases?(Source: 139) Discussion: One of the main strategies of the Caltrans Climate Action Program to reduce GHG emissions is to make California's transportation system more efficient. As discussedal�e,the highest levels of G emissions occur when vehicles travel at"stop-and-go"speeds. The purpose of the proposed project is to eliminate a"choke point" on Atlanta Avenue and reduce an area currently experiencing queuing and"stop-and-go"speeds. The project also proposes to add a Class-II bike lane and would bring the subject segment of Atlanta Avenue into compliance with its MPAH designation,which is administered by the Orange County Transit Authority(OCTA),a member of Southern California Association of Governments (SCAG). Transportation control measures in the AQMP are provided by SCAG and include those contained in the 2008 Regional Transportation Plan(RTP). The proposed project is identified in the 2008 RTP and is consistent with Travel Demand Management strategies identified in the RTP including enhancing non-motorized and transit modes of transportation in the area. The proposed project is consistent with the Caltrans Climate Action Program and the 2008 RTP. Projects that are consistent with these programs would be consistent with other programs and policies of a broader context such as AB 32. Therefore,the project would not conflict with applicable policies,plans or programs adopted for the purpose of reducing GHG emissions. Impacts would be less than significant. XVIiI.MANDATORY FINDINGS OF SIGNIFICANCE. a) Does the project have the potential to degrade the quality of ❑ ® ❑ ❑ the enviromnent, substantially reduce the habitat of a fish or wildlife species,cause a fish or wildlife population to drop below self-sustaining levels,threaten to eliminate a plant or animal community,reduce the number or restrict the range of a rare or endangered plant or animal or eliminate important examples of the major periods of California history or prehistory? (Sources:1-243) Discussion: The project, during construction, could result in disturbances to migratory bird species. In addition, there is potential for cultural resources to be discovered during construction-related ground-disturbance. However, with mitigation, impacts would be less than significant. b) Does the project have impacts that are individually limited, ❑ ® ❑ ❑ Page 42 HB -199- Item 10. - 56 Potentially Significant Potentially Unless Less Than Significant Mitigation Significant ISSUES (and Supporting Information Sources): Impact Incorporated Impact No Impact but cumulatively considerable? ("Cumulatively considerable"means that the incremental effects of a project are considerable when viewed in connection with the effects of past projects,the effects of other current projects,and the effects of probable future projects.) (Sources:1-23) Discussion: As discussed throughout the document,the proposed project would have less than significant impacts for the majority of impact areas. Therefore,the project's contribution in the context of cumulatively considerable adverse impacts would be less than significant. The project does require mitigation for potentially significant impacts in the areas of air quality,biological resources,and cultural resources. However, all of the identified potentially significant impacts can be mitigated during project construction and therefore do not represent a cumulatively considerable significant impact. Mitigation for impacts identified in the area of population and housing are due to relocation of 164 residents that would occur as a result of acquisition of additional right-of-way for the project and not due to substantial increases in population or indirect growth that would result in cumulatively considerable impacts. c) Does the project have environmental effects which will cause substantial adverse effects on human beings,either directly or indirectly? (Sources:l-243) Discussion. As discussed throughout the document,the project would result in less than significant impacts (i.e.— traffic, ,hazards)or less than significant impacts with mitigation(air quality,noise and housing)in areas with the potential to have adverse effects on human beings. Page 43 Item 10. - 57 Hs -200- XIX. EARLIER ANALYSTS. Earlier analyses may be used where, pursuant to tiering,program EIR,or other CEQA process, one or more effects have been adequately analyzed in an earlier EIR or negative declaration. Section 15063 (c)(3)(D). Earlier Documents Prepared and Utilized in this Analysis: Reference# ]Document Title Available for Review at: City of Huntington Beach Planning Dept., 1 City of Huntington Beach General Plan Planning/Zoning Information Counter,3rd Floor 2000 Main St- Huntington Beach 2 City of Huntington Beach Zoning and Subdivision Ordinance " 3 Project Vicinity Map See Attachment No.1 4 Conceptual Project Plan See Attachment No.2 City of Huntington Beach Planning Dept., Planning/Zoning Information Counter,3rd 5 Community Impact Report(December 2012) Floor 2000 Main St. Huntington Beach 6 Census Tract Map See Attachment No.3 City of Huntington Beach Planning Dept, Planning/Zoning Information Counter,3rd 7 Relocation Plan(November 2011) Floor 2000 Main St. Huntington Beach 8 Subsurface Investigation Report(March 2004) " 9 Addendum to the Subsurface Investigation Report , (August 2012) 10 Hydrology Study(March 2012) 11 City of Huntington Beach Municipal Code 12 FEMA Flood Insurance Rate Map « (FIRM No. 06059CO263J, 1213/09) :Page 44 HB -201- Item 10. - 58 13 Air Quality Analysis(December 2012) 14 Traffic Impact Analysis(December 2012) " Airport Environs Land Use Plan for Joint Forces Training 15 Base Los Alamitos(Oct. 17,2002) " 16 Noise Impact Analysis(December 2012) « 17 Phase I Environmental Site Assessment « (October 2009) 18 Phase 11 Environmental Site Assessment « (March 2010) 19 City of Huntington Beach Environmental Assessment Form « (February 2009) 20 Noise Monitoring Locations Map See Attachment No.4 21 Photo Location Map See Attachment No.5 22 Key Views 1-3 See Attachment No.6 City of Huntington Beach Planning Dept., 23 Historic Property Survey Report&Archeological Survey Planning/Zoning Information Counter,3rd Report(April Floor Re P ( P ) 200D Main St. Huntington Beach 24 State Historic Preservation Office concurrence letter « (June 2010) 25 Paleontological Assessment Report(December 2012) " 26 Summary of Mitigation Measures See Attachment No. 7 Page 45 Item 10. - 59 HB -202- Page 46 xB -203- Item 10. - 60 Attachment No. 1 Page 47 Item 10. - 61 xB -204- Page 48 HB -205- Item 10. - 62 ME, iltp iR n! ol mw: VMA� ............ 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'{�� ,'F�• d EI � !',r� ,I#ill i� E' {' 3 i d• ,�' f 1 VI t t(}!: -} �j� ^er I •I' :{ ft(Pr�ldt. 1��• ,t,�I�I rt�l.. 't V iW�- '} `r :t#1 {I •il} ,l i ,�, :�;I ,l p. �� (l�e i I,. 11� ,.I I I fr!`I:n'' 'ri+r � `tri l t"ft" ra"IIi ! ;trtl�i`I4..r.:,,r I''.+I t' Ill r�,y�t,l, ,! tl l i!i !i h �; .[E' l s rl;lli i• ;f }trl It,,p ,s ' I- E j #I Itff ii: I,t�lr ,' �r r jI 't4:t ! }� t' ••II #I' •,i i II,i :t�b1;. 'id! 7 r. � If 3� I !� i� :I�, II {t 1 ,t ,' i � •Ilf. -.•F' I ] I { ,!t• .t;e t �_' !i'• i I {{.� fr� I .mB 'If 3• h�irh.nrl�;li9 �, .c - #,!lltllti.,,�IG31(h,,,.l•,±r,,;,,. H?31?. 19'aa. ,il��•,I t:.� .:�i�,�r �i�:Hl.._,• .,., •�[li ,I- I�-I, ..t!Ef� I I• Q v� Page 66 xB -223- Item 10. - 80 Attachment No. b Page 67 Item 10. - 81 HB -224- Page 68 xB -225- Item 10. - 82 ---- Van • .9" - s�-era..- '._•• a ua,��iT,e���_�.�1-�-,�:c._ .c. MN NOF - cam.--•---� ���:-�rL=� F-..=��,�,�-�--�+ __ - �-„-"'�• +--•"' 0 - �---, - _ � i � Page 70 HB -227- Item 10. - 84 �,;'�^��:�.^--�-tea.��_�;.:;. -�'"�, "•.- _'�.� ONE M Existing Key View 2:Looking west from Unit 40I. ON -�` =�=,"�-=fir TM�.-�-,._�`x,�.._... .�.-�•�i� i I ii ��— -._ n._�••-�.=_mac:—..-;.....-- Key View 2 View Simulation L S A FIGURE 7 Atlanta Avenue Fidening Sot3RCF:Focus 360 Key View 2 L`,M12021GVCey View2xdr(12iI 12) Item 10. - 85 HB -228- Page 72 xB -229- Item 10. - 86 ,°;-� ':s.--....-,•cam -='�� c .3�-"`� E�e�s:"• _ - ""'-r.,'•-.W.W.��'-'.'-�..� rn ���y�-xr� ._ .��cT.�,=?-ywr„'`-:= �:s:,_,_�.-�.T-:�x+"'••'u`"T"'.-. AR a.�,.... y., ��.z.•�_....•cr:��•is",^-<`- .-; i-��� ^'''_`�^-i:.-:;��-i".r'S c.?:u-rx_ `'�."�`_�a's:�L..x?~�": 5'2. ..:.-t-s- ...._ �:. •r�sF.:,-..."���-.+..j. `rz� ^�;:=,.�--,r:M e._ .,sue... sue••' _. _ _� Existing Key View 3:Looking east on Atlanta Avenue at Huntington Street. M. W. a-, '.. ., .=,...•yam..... `^s- ._:.a�`.. -a'-"•F.•� - .4,s.. c. -»s_-�•--�.`"�.u.•n- �: !s..,=_--".i:==s_-'vim::=--�'�. -v^:�-'..:._-^ _, �_ -r:.•-^••=.. "- ^r=^:-;•`a.,..;_ '=a Ica`==.:ar—.^=�-r:.=T.>z?.-.=r.....• _ :��.�-.-.., �=-_•�-•:-..,- .•.�•�•.�.�•aw »L� IP`^-.:^zee,.:—: Key View 3 View Simulation L S p FIGURE 8 Atlanta Avenue Mdening SOURCE:Focus 360 Key View 3 ):1Frfi1202101Key View 3.el(12/19/12) Item 10. - 87 HB -230- Page.74 xs -231- Item 10. - 88 Attachment No. 7 SummaEy of Mitigation Measures Description of Impact Mitieation Measure • Displace substantial POP-1: As soon numbers of existing as Legibly possible pursuant to applicable laws and re ulations the City shall housing,necessitating commence with acquisition and relocation in accordance with the provisions of the the construction of Federal Uniform Act. Motif cation to and discussions with the impacted residents shall replacement housing occur as soon as feasibly possible pursuant to the Federal Uniform Act. The City shall elsewhere ensure that a relocation plan is prepared prior to final project plans and relocation is implemented in accordance with the Federal Uniform Act. ® Displace substantial numbers of people, necessitating the construction of replacement housing elsewhere ® Violate aray air quality AQ-1: The City shall require, by contract specifications, implementation of the standard or contribute following measures: substantially to an o All work shall be done in accordance with the "GREENBOOK"Standard existing or projected air specifications for Public Works Construction, 2009 Edition, as written and quality violation promulgated by Public Works Standards, Inc. o The construction contractor shall not discharge smoke, dust, equipment ® Expose sensitive exhaust, or any other air contaminants into the atmosphere in such quantity as receptors to substantial will violate any federal, State or local regulations. (Greenbook Section 7-8.2) o The contractor shall comply with Caltrans'Standard Specification Section 7- pollutant concentrations 1.01F and Section 10 of Caltrans'Standard Specifications (1999). o The contractor shall apply water or dustpalliative to the site and equipment as frequently as necessary to control fugitive dust emissions. o The contractor shall spread soil binder on any unpaved roads used for construction purposes and all project construction parking areas. o The contractor shall wash trucks as they leave the right-of-way as necessary to control fugitive dust. o The contractor shall properly tune and maintain construction equipment and vehicles and use low-sulfur fuel in all construction equipment as provided in the California Code of Regulations Title 17, Section 93114. o The contractor shall develop a dust control plan documenting sprinkling, temporary paving, speed limits, and expedited revegetation of disturbed slopes as needed to minimize construction impacts to adjacent uses and residents. o The contractor shall locate equipment and materials storage as faraway from residential as practical. o The contractor shall establish environmentally sensitive areas for receptors within which construction activities involving extended idling of diesel equipment would be prohibited to the extent feasible. o The contractor shall use track out reduction measures such as gravel pads at project access points to minimize dust and mud deposits on roads affected by construction traffic. o The contractor shall require that all transported loads of soil and wet materials shall be covered prior to transport, or provide adequate freeboard to Page 75 Item 10. - 89 HB -232- reduce PM10 and deposition ofparticulate matter during transportation. o The contractor shall route and schedule construction traffic to avoid peak travel times as much as possible to reduce congestion and related air quality impacts caused by idling along local roads. o The contractor shall install landscaping as soon as practical after grading to reduce windblown particulate in the area o The contractor shall implement a street sweeping program with Rule 1186- compliant PM10-efficient vacuum units on at least a 14-day .frequency. o The contractor shall abate dust nuisance by cleaning, sweeping and spraying with water, or other means as necessary. (Green book Section 7-8.1) o The contractor shall provide a self-loading motorized street sweeper equipped with a functional water,spray system. The sweeper shall clean all paved areas within the work site and all pave haul routes at least once a day. (Greenbook Section 7-8.1) Interfere substantially BI0-1: Prior to the onset ofground disturbance activities, the project developer shall with the movement of implement the following mitigation measure which entails nesting surveys and any native resident or avoidance measures for sensitive nesting and MBTA species, and appropriate agency migratory fish or consultation wildlife species or with established native Nesting habitat for protected or sensitive species.- resident or migratory 1) Vegetation removal and construction shall occur between September 1 wildlife corridors or and January 31 whenever feasible. impede the use of 2) Prior to any construction or vegetation removal between February 15 native wildlife nursery and August 31, a nesting survey shall be conducted by a qualified sites biologist of all habitats within 500 feet of the construction area Surveys shall be conducted no less than 14 days and no more than 30 days prior to commencement of construction activities and surveys will be conducted in accordance with California Department of Fish and Game (CDFG)protocol as applicable. If no active nests are identified on or within 500,feet of the construction site, no further mitigation is necessary. A copy of the pre-construction survey shall be submitted to the City of Huntington Beach. If an active nest of a MBTA protected species is identified onsite(per established thresholds), a 250 foot no- work buffer shall be maintained between the nest and construction activity. This buffer can be reduced in consultation with CDFG and/or U.S. Fish and Wildlife Service. 3) Completion of the nesting cycle shall be determined by a qualified ornithologist or biologist NOISE-1- The City shall require by contract specifications the following measures: • A substantial temporary o Ensure that all construction equipment has sound-control devices. or periodic increase in o Prohibit equipment with un.-muffled exhaust. ambient noise levels in o Site staging ofequipment as far away from sensitive receptors as possible. the project vicinity o Limit idling ofequipment whenever possible. above levels existing o Notify adjacent residents in advance of construction work. without the project o Educate contractors and employees to be sensitive to noise impact issues and noise control methods. o Install temporary acoustic barriers between the mobile home removal and construction activities and the raw of mobile homes to remain closest to Atlanta Avenue. Acoustical barriers should provide a Sound Transmission Class Rating of 25 and should be situated in a manner to provide an uninterrupted continuous barrier between all mobile home removal and Page 76 HB -233- Item 10. - 90 road construction activities. During the mobile home removal activities, the barriers should stretch from the east edge of the property to the west and zig-zag between homes where necessary. After removal of the mobile homes and prior to construction of the drive aisle within the mobile home property, the barrier can be straightened to stretch more directly from the east property line to the westproperty line. • Exposure of persons to NOISE-2: During final design the City shall coordinate with the affected new or generation of noise frontline mobile home residents within 100 feet of the Atlanta Avenue centerline2 to levels in excess of ensure that mechanical ventilation systems such as air-conditioning are Provided to standards established in maintain the interior noise standard of 45 A-weighted decibels (dBA) day-nigh the local general plan or average noise level do. noise ordinance,or applicable standards of other agencies CULT-1: If cultural resources are encountered during construction-related ground- • Cause a substantial disturbing activities, all construction personnel shall be informed of the need to stop adverse change in the work on the project site in the event of a potential find,ind, until a qualified archaeologist significance of an has been provided the opportunity to assess the significance of the.fnd and implement archaeological resource appropriate measures to protect or scientifically remove the find. Construction pursuant to 815064.5 Personnel shall also be informed that unauthorized collection of cultural resources is - prohibited. If archaeological resources are discovered during ground-disturbing • Disturb any human activities, all construction activities within 50 feet of the find shall cease until the remains,including archaeologist evaluates the significance of the resource.In the absence of a those interred outside determination, all archaeological resources shall be considered significant. If the of formal cemeteries resource is determined to be significant, the archaeologist shall prepare a research design and recovery plan for the resources. CULT-2: If human remains are discovered during construction or any earth-moving activities, the County Coroner must be notified of the find immediately. No further disturbance shall occur until the County Coroner has made a determination of origin and disposition pursuant to Public Resources Code Section 5097.98. If the human remains are determined to be prehistoric, the Coroner must notify the Native American Heritage Commission(NAHC), which will determine and notify a Most Likely Descendent (MLD). The designated A4LD may make recommendations to the City for means of treating or disposing of, with appropriate dignity, the human remains and any associated grave goods. • Directly or indirectly CULT-3• UPon final project design and prior to the beginning of destroy a unique construction, a qualified paleontologist shall review the final Proiect Plans to paleontological determine whether construction activities would affect native sediments resource or site unique containing sensitive Paleontological resources. The qualified paleontologist geologic feature? shall provide his/her findings in writing and provide recommendations far further paleontological monitoring during construction if necessary. If construction activities would not disturb native sediments, no further mitigation would be required If construction activities would occur in native sediments identified as being sensitive for paleontological resources, the qualified paleontologist shall prepare a Paleontological Resources Impact Mitigation Plan (PRIMP) consistent with the guidelines of the Society of Vertebrate Paleontology(SVP) (SVP 1995 and 2010). The PRIMP shall include, but not be Limited to, the fallowing and shall be implemented prior to and during construction,as specified: Page 77 Item 10. - 91 HB -234- • Attendance at the pregrade conference by a project paleontologist or his/her representative.At this meeting,the paleontologist will explain the likelihood for encountering paleontological resources,where these resources may occur, what resources may be discovered, and the methods that will be employed if anythine is discovered. • Monitoring of excavation activities by a qualified paleontological monitor in areas identified as likely to contain paleontological resources. The monitor shall be e,uipped to salvage fossils andlor matrix samples as they are unearthed in order to avoid construction delays. The monitor shall be empowered to temporarily halt or divert equipment in the area of the find in order to allow removal of abundant or large specimens. • Because the underlying sediments may contain abundant fossil refrains that can only be recovered by a screening and picking matrix,it is recommended that these sediments occasionally be spot screened throu_-h V8 to 11,20-inch mesh screens to determine if small vertebrate fossils exist If small fossils are encountered, additional sediment samples(up to 6,000 pounds)shall be collected and processed throueh 1120--inch mesh screens to recover additional fossils. • Preparation of recovered specimens to a point of identification and permanent preservation. This includes the washing and picking ofmass samples to recover small invertebrate and vertebrate fossils and th.e removal of suiplus sediment from around larger specimens to reduce the volume of storage for the repository and the storage cost for the developer. • Identification and curation of specimens into a museum re ository with permanent retrievable storage. • Preparation of a report of findings with an appended itemized inventory of specimens When submitted to the LeadAgencv. the report and inventory will signify completion of the program to mitigate impacts to paleontological resources. Page 78 xB -235- Item 10. - 92 ATTACHMENT #3U Item 10. - 93 ire -_,6- CITY OF HUN'T'INGTON BEACH INTER-DEPARTMENT COMMUNICATION TO: Jennifer Villasenor, Senior Planner FROM: Huntington Beach Environmental Board SUBJECT: ENVIRONMENTAL,ASSESSMENT NO. 09-001 (Draft Recirculated Mitigated Negative Declaration -Atlanta Avenue Widening Project) DATE: January 24, 2013 The City's Environmental Board reviewed the Draft Recirculated Mitigated Ne2ative Declaration No. 09-001 on January 3, 2013 regarding the potential environmental impacts associated with a City proposal to widen the south side of Atlanta Avenue,between Huntington Street and Delaware Street. As defined in the General Plan,the primary arterial street classification provides sidewalk, curb, gutter, a bike lane, and two through lanes in each direction of travel, separated by a striped median. The Board greatly appreciates the improvements made in this document to graphically describe the factors involved. subsequent reconstruction of the on-site circutation road would directly aft' t ei- i cxistin� mobile. homes located within Pacific Mobile Home Farb. As of the date t>f this Plan, all ejgh units are occupiM by lxsmanent residents. .__..AnAKA AVM L Proposed Street"Improvements" and community disruptions issues appear to be successfully resolved. While the project still requires approval of a coastal development permit for development in the coastal zone and a conditional use permit for the proposed retaining wall height,the Board sees no significant environmental issues that have not been described. We look forward to future reviews as enhanced by the Governor's Genera[ HB -237- Item 10. - 94 Plan Guide -201 3 plans and the Rapid Fire-Urban Footprint open source modeling templates to be provided to Boards such as ours. Respectfully submitted Michael Marshall, Esq. Chairman, FIB Environmental Board Item 10. - 95 xB -238- STATE OF CALWORNIA--r3US1NESS TRANSPORTATION AND HOUSING AGENCY EDMUND G.BROWN Jr Governor DEPARTMENT OF TRANSPORTATION District 12 3347 Michelson Drive,Suite 100 ID Irvine,CA 92612-8894 , lel:(949)724-2241 iax: 949 724-2592 1. � ® energ e fowerf } � 13e energy efficient. January 23, 2013 ' ldin Jennifer Villasenor File: IGR/CEQA City of Huntington Beach SCH#: 2010081014 2000 Main Street Log#: 2568E Huntington Beach, CA 92648 SR-39 Subject: Atlanta Avenue Widening Project Dear Ms. Villasenor, Thank you for the opportunity to review and comment on the Recirculated Mitigated Negative Declaration (MND) for the Atlanta Avenue Widening Project. The project proposes to widen the south side of Atlanta Avenue between Huntington Street and Delaware Street, to comply with the primary arterial street classification in the General Plan Circulation Element and the Orange County Transportation Authority's Master Plan of Arterial Highways (MPAH). Street. improvements include an additional through lane and bike lane in each direction of travel. The project site is located within the City of Huntington Beach. The nearest State route to the project site is SR-39. The Department of Transportation (Department) is a commenting agency on this project and has no comment at this time. However, in the event of any activity in the Department's right-of-way, an encroachment permit will be required. Please continue to keep us informed of this project and any future developments that could potentially impact State transportation facilities. If you have any questions or need to contact us, please do not hesitate to call Marlon Regisford at(949) 724-2241. Sincer , Christopher Herre, Branch Chief Local Development/Intergovernmental Review C: Scott Morgan, Office of Planning and Research "Caltrans improves mobility across California" HB -239- Item 10. - 96 E DF PLJI /'c' STATE OF CALIFORNIA z° gym Governor's Office of Planning and Research p °••FORNP State Clearinghouse and Planning Unit Edmund 0.Brown Jr. Ken Alex Governor Director RECEW D January 22,2013 JAN 2 5 2013 OePt Of Planning l BuNding Jennifer Villasenor City of Huntington Beach 2000 Main Street Huntington Beach, CA 92648 Subject: Atlanta Avenue Widening Project SCH#: 2010081014 Dear Jennifer Villasenor: The State Clearinghouse submitted the above named Mitigated Negative Declaration to selected state agencies for review. The review period closed on January 18, 2013, and no state agencies submitted comments by that date. This letter acknowledges that you have complied with the State Clearinghouse review requirements for draft environmental documents,pursuant to the California Environmental Quality Act. Please call the State Clearinghouse at(916)445-0613 if you have any questions regarding the environmental review process. If you have a question about the above-rimmed project,please refer to the ten-digit State Clearinghouse number when contacting this office. Sincerely, Scott gan Director, State Clearinghouse 1400 TENTH STREET P.O.BOX 3044 SACR.AMEN`.CO, CALIFORNIA 95812-3044 TEL(916)445-0613 FAX(916)323-3018 www.opr.ca.gov Item 10. - 97 HB -240- Document Details Report State Clearinghouse Data Base SCH# 2010081.014 Project Title Atlanta Avenue Widening Project Lead Agency Huntington Beach, City of Type MND Mitigated Negative Declaration Description The City proposes to widen the south side of Atlanta Avenue, between Huntington Street and Delaware Street, to comply with the primary arterial street classification in the General Plan Circulation Element.The proposed street improvements will provide an additional through lane and bike lane in each direction of travel. Construction of the proposed street improvements will require the acquisition . of an additional 25 ft. of public street right-of-way south of the centerline Atlanta Avenue.The additional 25 ft. of right-of-way would come from a 25 ft.wide by 630 ft. long (approx.) strip of land from the Pacific Mobile Home Park located immediately south of Atlanta Ave. Lead Agency Contact Name JenniferViliasenor Agency City of Huntington Beach Phone (714) 374-1661 Fax email Address 2000 Main Street City Huntington Beach State CA Zip 92648 Project Location County Orange City Huntington Beach Region Lat/Long 33'39'52.3"N/117'59'42.1"W Cross Streets Atlanta Avenue and Huntington Street Parcel No. 024-291-16 Township 6 Range 11 Section 14 Base Proximity to: Highways Hwy 1 and 39 Airports Railways Waterways Hunitington Beach Channel and Talbert Channel Schools 10 Public and 4 Private Land Use Present Land Use: Atlanta Ave ROW&mobile home park/Zoning: RMP-CZ/GP Designation: Residential -Med. High Density Project Issues AestheticNisual;Agricultural Land; Air Quality;Archaeologic-Historic; Biological Resources; Coastal Zone; Drainage/Absorption; Flood Plain/Flooding; Geologic/Seismic; Minerals; Noise; Population/Housing Balance; Public Services; Recreation/Parks; Solid Waste;Toxic/Hazardous; Traffic/Circulation;Vegetation;Water Quality; Growth Inducing; Landuse Reviewing Resources Agency; Department of Fish and Wildlife, Region 5; Department of Parks and Recreation; Agencies Department of Water Resources; California Highway Patrol; Caltrans, District 12; Air Resources Board, Transportation Projects; Regional Water Quality Control Board, Region 8; Native American Heritage Commission Date Received 12/20/2012 Start of Review 12/20/2012 End of Review 01/18/2013 HB -241- Item 10. - 98 ATTACHMENT #4 Item ,0 . yy Ha 1 FILED SUPERIOR COURT OF CALIFORNIA 7 COUNTY OF ORANGE CENTRAL JUSTICE CENTER. 3 ELECTRONICALLY RECEIVED F E B 14 2012 4 Superior Court of California, Curdy of Orange ALAN CARLSON Cleric of the COt� 5 021M2. 012 at t 1:30:36 AM 6 Cleric of the Superior CDUIt BY W CORREA By .Sonya 4Etlilsian,Deputy Cie* 7 8 SUPERIOR COURT OF THE STATE OF CALIFORNIA 9 COUNTY OF ORANGE—CIVIL COMPLEX CENTER 10 ,I 1 PACIFIC MOBILEHOME PARK,LLC, a CASE NO. 30-2011-00449749-CU-PT-CXC California limited liability company, z ]2 Assigned for all purposes to: o o ) Iudge Nancy Wieben Stock o V 13. Petitioner, } Dept. CX105 O L U 5 0 14 } JUDGMENT GRANTING PER]EWTORY � < ` VS. WRIT OF MANDATE z < U 15 � oa7- r _ �< 16 CITY OF HUNTINGTON BEACH, a o `< z California Municipal Corporation, acting 17 by and through its elected City Council; ) a I 18 19 Respondents. 20 ) 21 ) 22 23 24 25 26 27 28 1 36608,00514811-8173-9534v,2 JUDGMENT GRAN NG PET/TIOA'FOR WRIT OF A-1AVDATE HB -243- D` Item 10. - 100 1 This proceeding came on regularly for trial on January 12, 2012 in Department CX- 105 of the Orange County Superior Court, the Honorable Nancy Wieben Stock presiding. Boyd L. Hill of Hart Ding & Coldren appeared on behalf of Petitioner, Pacific Mobilehome 4 Park, LLC. Scott Field, Assistant City Attorney, appeared on behalf of Respondent, City of 5 Huntington Beach. 6 Having reviewed the Administrative Record of Respondent and the briefs submitted 7 by counsel, and considered the argu3nents of counsel, and having entered its Order Granting g Petition for Writ of Mandate, 9 IT IS ORDERED AND ADJUDGED that: 10 1. Petitioners Petition for Writ of Mandate is granted. 11 2. - The certification of Mitigated Negative Declaration No. 097001 for the Atlanta Z 12 Avenue Widening Project is vacated. z C 0 0 o °� 13 3. A Peremptory Writ of Mandate shall issue. �U U a o i4 4. This matter is remanded to the Huntington Beach City Council for further awl z ` x G 15 review, consideration, analysis, and findings, and upon which occurring; Respondent may o o < a o 16 prepare and act upon a negative declaration, mitigated.negative declaration, environmental CL 5< 1 - impact report or ether suitable environmental document. In accordance with Code of Civil lg Procedure Section 1094.5(f) and Public Resources Code Section 21168.9 (c), nothing in this 19 Judgment directs Respondent to exercise its lawful discretion in any particular way. 20 5.. Respondent City of Huntington Beach shall refrain from conducting any 21. activity that would interfere with the City's ability to achieve Project approval,in compliance 22 with the California-Environmental Quality Act, 23_ 6. Respondent City of Huntington Beach shall make and file a return to the Writ 24 of Mandate on or before March 21, 2012. 25 26 ?7 28 36609,0051491 1.81173-9530.2 JUDGH&VT GRANTING PL•TMON FOR;j fur OF MANDi1 TE Item 10. - 101 HB -244- t 1 7. Ur)der Public Resources Code Section 21168.9 (b), this Court retains 2 jurisdiction of Respondent's proceedings on the Project by way of a return to the Peremptory 3 Writ of Mandate until the Court has determined that Respondent has complied with the 4 provisions of CEQA. 5 S. Petitioner shall be awarded its costs of suit. 6 7 Dated: February/ 2012 i 8 cy Wieben SA Judge of the Superior Court 9 10 Prepared by: E' o i11 HART,KING&COLDREN U 3� 2 z0 0 . 13 S 14 By. Bo L.Hill Aft rneys for Petiti oner, .15 Pacific.Mobilehome Park,LLC a. 16 1,17 Approved by: 18 JENNIFER McGRATH, City Attorney 19 20 21 By: Scott . .Field,Assistant City Attorney ?2 Attorneys for Respondent, City of 1-luntington Beach 23 24 25 26 27 ,)8 36608.00514811-8173-9534v 2 JUDGMENT GRANTING PETI?MON FOR WRIT OF I bWD:t TE HB -245- Item 10. - 102 , � r PROOF OF SERVICE 1 Pacific iWohilehome Park,LLC vs. City of Hnnrlington Beach Court Case No.30-2011-00449749-CU-PT-CXC 2 3 STATE OF CALIFORNIA,COUNTY OF ORANGE 1 am employed in the County of Orange, State of California.. I am over the age of 18 years and am not a party 4 to the within action. My business address is 200 Sandpointe, Fourth Floor, Santa Ana, California 92707- 10507. On February 9, 2012, 1 caused the foregoing document(s) described as JUDGMENT GRANTING 5 PEREMPTORY WRIT OF MANDATE to be served on the interested parties in tl3is action as follows: 6 IF by placing ❑the original ® a true copy thereof enclosed in sealed envelopes addressed as stated below ar by sending'a copy as stated and addressed below: 7 SEE ATTACHED SER VICE LIST $ ❑ BY NL&M: i am "readily familiar' with the firm's practice of collection and processing correspondence for mailing. Under that practice it would be deposited with the U.S. Postal Service on that 9 same day with postage thereon fully prepaid Santa Ana, California in the ordinary course of business. 1 ant aware that on motion of the party served,service is presumed invalid if the postal cancellation date or postage 10 meter date is more than one day after date of deposit for mailing in the affidavit. ❑ BY OVERNIGHT DELIVERY: I enclosed the documents in an envelope or package provided by 11 an ovemight delivery carrier and addressed to the persons identified herein. I placed'the envelope or package for collection and overnight delivery at an office or a regularly utilized drop box of the overnight delivery $� l2 carrier. CL 0 L 0 o 13 ® BY ELECTRONIC SERVICE. Based on a court order or an agreement of the parties to accept v� service by electronic transmission, 1 caused the documents to be sent to the persons at the electronic - 14 notification addresses listed herein on this date. I did not receive, within a reasonable time after the �u transmission,any electronic message or other indication that the transmission was unsuccessful. o °z IS ❑ BY FACSINIII E: Based on an agreement of the parties to accept service by fax transmission, I { _ faxed the documents from a fax machine, at Santa Ana, California, with the telephone number, (714) 546- o �,i 16 7457 to the parties and/or attorney for the parties at the facsimile transmission number(s)shown herein. The 4NU' facsimile transmission was reported as complete without error by a transmission report, issued by the 17 facsimile transmission machine upon which the transmission was made, a copy of which is attached hereto. 18 ❑ BY PERSONAL SERVICE: 1 personally delivered the documents to the persons at the addresses listed herein. (])For a party represented by an attorney,delivery was.made to the attorney or at the attorney's 19 office by leaving the documents, in an envelope or package-clearly labeled to identify the attorney being served,with a receptionist or an individual in charge of the office, between the hours of nine in the morning 20 and five in the evening. (2) For a party, delivery.was made to the party or by leaving the documents at the 1party's residence with some person not younger than. 18 years of age bethlccn the hours of eight in the 21 morning and six in the evening. ❑ BY MESSENGER SERVICE: I served the documents by placing them in an envelope or package 22 addressed to die persons at the addresses listed herein and providing them to a professional messenger service for service. A declaration by the messenger will be fled separately. 3 ® [State) I declare under penalty of penury under the laws of the State of California that the foregoing 24- is true and correct. Executed on February 9,2012,at Santa Ana,California. 25 26 Dora Renteria 27 28 36608.0 0514 84 8-4 6 5 5-575 5v.1 1 PROOF OF SERVICE Item 10. - 103 HB -246- SERVICE LIST I Pacy1c Mobilehome Park,LLC vs. Cit>>of Huntington Beach Court Case No.30-2011-00449749-CU-PT-CXC 3 Jennifer McGrath,Esq. Attorneys for City of Huntington Bench. 4 City Attorney City of Huntington Beach 5 2000 Main Street, 4"'Floor Huntington Beach;.CA 92648 Tel.: (714) 536-5555 7 Fax: (714)374-1590 irncgrath ct.surfciity-hb.org Scott F. Field,Esq. Attorneys for City of Hwith7gton Beach City Attorney 10 City of Huntington Beach 2000 Main Street,4th Floor 11- Huntington Beach,Ca 92648 Tei.: (714)536-5555 w°o0 12 Fax: (714) 374-1590 Cz 0 sfieldnsurfcity-hb.org '5 i 13 UUoo I4 MZ U `z d IS — 0 FNz4 < xsg< 16 < 17 18 19 20 21 27. 23 24 25 26 27 28 36608.OQ5/4848-4595-5785v.1 11 PROOF OF SERI�ICE HB -247- Item 10. - 104 PROOF OF SERVICE 1 Pacific Mobilehome Park, LLC vs. City of Huntington Beach Court Case No.30-201 1-00449749-CU-PT-CXC 2 3 STATE OF CALTFORNIA,COUNTY OF ORANGE i am employed in the County of Orange, State of California. I am over the age of 18 years and am not a party 4 to the within action. My business address is 200 Sandpointe, Fourth Floor, Santa Ana, California 92707- 0507. On February 22, 2012, I caused the foregoing document(s) described as NOTICE OF ENTRY OF 5 JUDGMENT to be served on the interested parties in this action as follows: 6 ❑ by placing ❑ the original ®atrue copy thereof enclosed in sealed envelopes addressed as stated below or ® by sending a copy as stated and addressed below: 7 SEE ATTACHED SER VICE LIST 8 ® BY MAIL. I am "readily familiar" with the firm's of collection and processing correspondence for mailing. Under that practice it would be deposited with the U.S. Postal Service on that 9 same day with postage thereon fully prepaid Santa Ana, California in the ordinary course of business. I an, aware that on motion of the party served,service is presumed invalid if the postal cancellation date or postage 1 o metes-date is more than one day after date of deposit for mailing in the affidavit. ❑ BY OVERNIGHT DELIVERY: I enclosed the documents in an envelope or package provided by 11 an overnight delivery carrier and addressed to the persons identified herein. I placed the envelope or package z for collection and overnight delivery at an office or a regularly utilized drop box of the overnight delivery O W r O CD 12 carrier. BY ELECTRONIC SERVICE. Based on a court order or an agreement of the parties to accept F a 13 ❑ O uc o o service by electronic transmission, I caused the documents to be sent to the persons at the electronic 4`` L� 14 notification addresses listed herein on this date. I did not receive, within a reasonable tune after the transmission,any electronic message or other indication that the transmission was unsuccessful. zoa o 15 ❑ BY FACSIMILE: Based on an agreement of the parties to accept service by fax transmission, i a faxed the documents from a fax machine, at Santa Ana, California, with the telephone number, (714) 546- -It cc, 16 7457 to the parties and/or attorney for the parties at the facsimile transmission number(s)shown herein. The a o a °a-Nr" facsimile transmission was reported as complete without error by a transmission report, issued by the 17 facsimile transmission machine upon which the transmission was made, a copy of which is attached hereto. 18 ❑ BY PERSONAL SERVICE: I personally delivered the documents to the persons at the addresses listed herein. (1) For a party represented by an attorney, delivery was made to the attorney or at the attorney's 19 office by leaving the documents, in an envelope or package clearly labeled to identify the attorney being served, with a receptionist or an individual in charge of the office, between the hours of nine in the morning 20 and five in the evening. (2) For a party, delivery was made to the party or by leaving the documents at the party's residence with some person not younger than 18 years of age between the hours of eight in the 21 morning and six in the evening. ❑ BY MESSENGER SERVICE: I served the documents by placing them in an envelope or package 22 addressed to the persons at the addresses listed herein and providing them to a professional messenger service for service. A declaration by the messenger will be filed separately. 23 ® [State] I declare under penalty of perjury under the laws of the State of California that the foregoing 24 is true and correct. 25 Executed on February 22,2012,at Santa Ana, California. 26 Dora Renteria 27 28 36608.00514 848-4695-5785v.9 i PROOF OF SERVICE Item 10. - 105 HB -248- r r,C v � .. 9' .. , k .a } x \ zx >�r h4 B,-•,4' gq,, s r , l ui 9,1 16 Z zt'i ,uv`r, � i�!. 'fi»'" •,.`Y. ."'r`„cc' C- .spy-_ ,r ,.�.�c 1.• » y a, ld aH 1` -v :Q» N x - `� a e s9: �a c`r:eP,/ „y4 ti, � �„> emu; ,,¢. ;•fin. sus s 1.�. -fi R• r a , A 3. f r =. > � » N a // sx'xa'" $ yyy�. / !/' Mt L 5va .),>b,� •iC_.u,. 1 .�,r ,' . ; •. ..,.. k r:r;, ✓ 6 .,,;•.... •f ., .k .>-..:.: ./�;. :'. 1':i .T�',:; z�, ff ,xd. u.,,3Y `�> y: F 3 „ - v a Y AM........ ..... a J a, F P ajE3 h< »jr< iF. v-, � E r q • € f 7 l lx 'ry f aY✓/a!�". \\ k � of?,L -`-'.�, .3,yp..: bES. , G •66 ,\' :fit. a8•' :: �. ..•,. iw,w, Via.: E li5:. 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Rl U 'u d,,;, � Iyr1'1� I � I n� 1 NO ISh � �� 1� LO . r ,r11 L I�r�t� qr"1/S n c� I�; > x0,1111 U'l 5s ��, . , =E� r. n, w a1,a ............. y 11"xill 0as 4 WIT, OR ra o _ c� a � 1-v IF � ���. � c log ell* v � b�s � lsmg .. ..... r �1�1I �I �1 :5 Fin Will I ' , ,ov,,,', r LAt NO 777;- 1,7 N 7 01 v &W, S PIE R sm-a rlff 11 A 1,las PM rg ,� �� : �t � e �� a t r�c� n�x 61 WPk at :fir. � r� r��es UA la A -JEr I'M�......... AFTSW FI, pogrwE 0' t! to I L ir NOTICE OF PUBLIC HEARING BEFORE THE CITY COUNCIL OF THE CITY OF HUNTINGTON BEACH NOTICE IS HEREBY GIVEN that on Tuesday, February 19, 2013, at 6:00 p.m. in the City Council Chambers, 2000 Main Street, Huntington Beach, the City Council will hold a public hearing on the following planning and zoning item: ❑ 1. RECIRCULATED MITIGATED NEGATIVE DECLARATION NO. 09- 001(ATLANTA AVENUE WIDENING). Applicant: City of Huntington Beach Property Owner: Atlanta Avenue ROW: City of Huntington Beach; Pacific Mobile Home Park: Pacific Mobile Home Park, LLC, 80 Huntington Street, Huntington Beach, CA 92648 Request: To analyze the potential environmental impacts associated with a proposal to widen the south side of Atlanta Avenue, between Huntington Street and Delaware Street, to comply with the primary arterial street classification in the General Plan Circulation Element. The proposed street improvements will provide an additional through lane and bike lane in each direction of travel. In addition, the project's scope of work includes clearing and grubbing, the construction of asphalt concrete roadway, striping, curb, gutter, sidewalk, an 8-foot tall concrete block wall atop a variable height (7 ft. max.) retaining wall, landscaping (including the removal or relocation of 25 trees within the existing mobile home park), reconstruction of a 24 ft. wide drive aisle (circulation road) and two emergency access gates within the mobile home park, deconstruction and removal of eight mobile homes and utility and fire hydrant adjustment and relocation. In addition, five utility poles and overhead lines currently located within the existing southerly parkway area will require relocation. The poles will be relocated approximately 25 feet to the south to allow for the widening of Atlanta Avenue. SCE will transfer the existing subtransmission and distribution circuits to the new wood poles. Gas, cable, sewer, and water lines, located within existing City ROW and within the existing circulation road in the Pacific Mobile Home Park (PMHP) will be protected in-place or relocated during project construction. In accordance with the City's franchise agreements, the utility companies will be responsible for the relocation and/or adjustment of their facilities, however, their physical relocation is incorporated into this environmental analysis. It should be noted that the project requires approval of a coastal development permit for development in the coastal zone and a conditional use permit for the proposed wall height. A separate public hearing before the Planning Commission will be scheduled for the associated CDP and CUP. Construction of the proposed street improvements will require the acquisition of an additional 25 feet of public street right-of-way south of the centerline of Atlanta Avenue (i.e., the public street right-of-way is proposed at 55 ft. south of street centerline). The additional 25 feet of right-of-way would come from a 25 feet wide by 630 feet long (approx.) strip of land from the Pacific Mobile Home Park located immediately south of Atlanta Avenue. The acquisition of the 25 feet would impact eight manufactured/mobile homes (Unit Nos. 101, 102, 201, 301, 302, 401, 501, and 502) within the park. The impacted residents would need to be relocated pursuant to the Federal Uniform Relocation Assistance and Real Property Acquisition Policies Act of 1970 ("The Uniform Act"). A Mitigated Negative Declaration (MND) was adopted by the City of Huntington Beach City Council in January 2011. Subsequent to adoption of the MND in 2011, a lawsuit was filed challenging the City's approval of the MND. As a result of the California Environmental Quality Act (CEQA) lawsuit, the Court required the City to set-aside approval of the 2011 MND and conduct additional environmental analysis, which is reflected in the Draft C:\Documents and Settings\esparzap\Local Settings\Temporary Internet Files\Content.Outlook\L467AYCY\021913 (Atlanta RIVIND)(4).doc Recirculated Mitigated Negative Declaration. Location: Atlanta Avenue Right-of-Way: between Huntington Street and Delaware Street; Pacific Mobile Home Park: 80 Huntington Street (south side of Atlanta Avenue, between Huntington Street and Delaware Street) Project Planner: Jennifer Villasenor NOTICE IS HEREBY GIVEN that the initial environmental assessment for the above item was processed and completed in accordance with the California Environmental Quality Act. It was determined that Item # 1, with mitigation, would not have any significant environmental effects and that a recirculated mitigated negative declaration is warranted. The recirculated mitigated negative declaration (No. 09-001) is on file at the City of Huntington Beach Planning and Building Department, 2000 Main Street, and is available for public inspection and comment by contacting the Planning and Building Department, or by telephoning (714) 536-5271. ON FILE: A copy of the proposed request is on file in the Planning and Building Department, 2000 Main Street, Huntington Beach, California 92648, for inspection by the public. A copy of the staff report will be available to interested parties at the City Clerk's Office or on line at http://www.huntingtonbeachca.gov on Thursday, February 14, 2013. ALL INTERESTED PERSONS are invited to attend said hearing and express opinions or submit evidence for or against the application as outlined above. If you challenge the City Council's action in court, you may be limited to raising only those issues you or someone else raised at the public hearing described in this notice, or in written correspondence delivered to the City at, or prior to, the public hearing. If there are any further questions please call the Planning and Building Department at (714) 536-5271 and refer to the above items. Direct your written communications to the City Clerk Joan L. Flynn, City Clerk City of Huntington Beach 2000 Main Street, 2Id Floor Huntington Beach, California 92648 714-536-5227 http://huntingtonbeachca.gov/HBPublicComments/ C:\Documents and Settings\esparzap\Local Settings\Temporary Internet Files\Content.Out]ook\L467AYCY\021913 (Atlanta RMND)(4).doc C:2�24-iL NOTICE OF PUBLIC HEARING BEFORE THE CITY COUNCIL OF THE CITY OF HUNTINGTON BEACH NOTICE IS HEREBY GIVEN that on Tuesday, February 19, 2013, at 6:00 p.m. in the City Council Chambers, 2000 Main Street, Huntington Beach, the City Council will hold a public hearing on the following planning and zoning item: ❑ 1. RECIRCULATED MITIGATED NEGATIVE DECLARATION NO. 09- 0.01(ATLANTA AVENUE WIDENING). Applicant: City of Huntington Beach Property Owner: Atlanta Avenue ROW: City of Huntington Beach; Pacific Mobile Home Park: Pacific Mobile Home Park, LLC, 80 Huntington Street, Huntington Beach, CA 92648 Request: To analyze the potential environmental impacts associated with a proposal to widen the south side of Atlanta Avenue, between Huntington Street and Delaware Street, to comply with the primary arterial street classification in the General Plan Circulation Element. The proposed street improvements will provide an additional through lane and bike lane in each direction of travel. In addition, the project's scope of work includes clearing and grubbing, the construction of asphalt concrete roadway, striping, curb, gutter, sidewalk, an 8-foot tall concrete block wall atop a variable height (7 ft. max.) retaining wall, landscaping (including the removal or relocation of 25 trees within the existing mobile home park), reconstruction of a 24 ft. wide drive aisle (circulation road) and two emergency access gates within the mobile home park, deconstruction and removal of eight mobile homes and utility and fire hydrant adjustment and relocation. In addition, five utility poles and overhead lines currently located within the existing southerly parkway area will require relocation. The poles will be relocated approximately 25 feet to the south to allow for the widening of Atlanta Avenue. SCE will transfer the existing subtransmission and distribution circuits to the new wood poles. Gas, cable, sewer, and water lines, located within existing City ROW and within the existing circulation road in the Pacific Mobile Home Park (PMHP) will be protected in-place or relocated during project construction. In accordance with the City's franchise agreements, the utility companies will be responsible for the relocation and/or adjustment of their facilities, however, their physical relocation is incorporated into this environmental analysis. It should be noted that the project requires approval of a coastal development permit for development in the coastal zone and a conditional use permit for the proposed wall height. A separate public hearing before the Planning Commission will be scheduled for the associated CDP and CUP. Construction of the proposed street improvements will require the acquisition of an additional 25 feet of public street right-of-way south of the centerline of Atlanta Avenue (i.e., the public street right-of-way is proposed at 55 ft. south of street centerline). The additional 25 feet of right-of-way would come from a 25 feet wide by 630 feet long (approx.) strip of land from the Pacific Mobile Home Park located immediately south of Atlanta Avenue. The acquisition of the 25 feet would impact eight manufactured/mobile homes (Unit Nos. 101, 102, 201, 301, 302, 401, 501, and 502) within the park. The impacted residents would need to be relocated pursuant to the Federal Uniform Relocation Assistance and Real Property Acquisition Policies Act of 1970 ("The Uniform Act"). A Mitigated Negative Declaration (MND) was adopted by the City of Huntington Beach City Council in January 2011. Subsequent to adoption of the MND in 2011, a lawsuit was filed challenging the City's approval of the MND. As a result of the California Environmental Quality Act (CEQA) lawsuit, the Court required the City to set-aside approval of the 2011 MND and conduct additional environmental analysis, which is reflected in the Draft C:\Documents and Settings\esparzap\Local Settings\Temporary Internet Files\Content.Outlook\L467AYCY\021913 (Atlanta RMND)(4).doc Recirculated Mitigated Negative Declaration. Location: Atlanta Avenue Right-of-Way: between Huntington Street and Delaware Street; Pacific Mobile Home Park: 80 Huntington Street (south side of Atlanta Avenue, between Huntington Street and Delaware Street) Project Planner: Jennifer Villasenor NOTICE IS HEREBY GIVEN that the initial environmental assessment for the above item was processed and completed in accordance with the California Environmental Quality Act. It was determined that Item # 1, with mitigation, would not have any significant environmental effects and that a recirculated mitigated negative declaration is warranted. The recirculated mitigated negative declaration (No. 09-001) is on file at the City of Huntington Beach Planning and Building Department, 2000 Main Street, and is available for public inspection and comment by contacting the Planning and Building Department, or by telephoning (714) 536-5271. ON FILE: A copy of the proposed request is on file in the Planning and Building Department, 2000 Main Street, Huntington Beach, California 92648, for inspection by the public. A copy of the staff report will be available to interested parties at the City Clerk's Office or on line at http://www.huntingtonbeachca.gov on Thursday, February 14, 2013. ALL INTERESTED PERSONS are invited to attend said hearing and express opinions or submit evidence for or against the application as outlined above. If you challenge the City Council's action in court, you may be limited to raising only those issues you or someone else raised at the public hearing described in this notice, or in written correspondence delivered to the City at, or prior to, the public hearing. If there are any further questions please call the Planning and Building Department at (714) 536-5271 and refer to the above items. Direct your written communications to the City Clerk Joan L. Flynn, City Clerk City of Huntington Beach 2000 Main Street, 2"d Floor Huntington Beach, California 92648 714-536-5227 http://huntingtonbeachca.gov/HBPublicComments/ C:ADocuments and Settings\esparzap\Local Settings\Temporary Internet Files\Content.Outlook\L467AYCY\021913 (Atlanta RN4ND)(4).doc =»� ,wpm "Er1._r t _t tY:L7 ' Printed by 0602 Patricia Gantino Jan 31,y2013,10:41 am ,Irt QOS�11f�P�CB 1 Salesperson: �IO�Agra Phone: Ad#35373572 ti _ M,4 f Q 27C pilorle 7i4 13 MIII� III � &#. (71 )536-5227 f Start hate 02 07- 132 410" ( ty.Of Huntington Beach(Parent) Y Sir o�cl 02-07-13 ;BrSetl eA:13-00 MN.tier ;?'A Tess 1 PO Box 784 I Iser�ltlrsG 1 N l e fl�tli f Huntington Beac,CA 92648 RatefCoclel,&Legal Huntington Beach N Ad type Mlffirt:olunn Llner e ak rlby 0602 Patricia Gaminc, AcCCtJ00070479 "' _. __.."__ . ____<.. li3ss 13000-Legal Notices Carta 5(?rIC :;i $208 00 ftbw4 TCN HSI i het price $2MW �Gllet j City O#Huntington Beach-Clerk's O i 1 Dlue S 201300 _� ±r Mote Amount taus �s a' f�9Ct I�'1 r hangs rice fft aiscourtlU nllscclht otnttterCh Ill rg� Ad Copy: NOTICE Of PUBUC HEARING BEFORE THE CITY COUNCIL Of THE CITY Of HIHITINGTON BEACH NOTICE IS I HEREBY GIVEN that on Tuesday February 19,2013,at6:00 p.m-in the City:Councii Chambers, 2000 Main Street, Huntingtonr Beach, the City,Council will hold a public hearing on the following planning and zoning item: 01. RECIRCULATED MITIGATED NEGATIVE DECLARATION NO. 09-001(ATLANTA AVENUE WIDENING). Applicant: City of Huntington Beach Property Owner: Atlanta-Avenue ROW: City of Huntington Beach; Pacific Mobile Home Park: Pacific_Mobile Home. Park, LLC, 80. Huntington Street, Huntington Beach, CA 92648 Request: To analyze the potential environmental "impacts associated with a proposal to widen the south side of Atlanta Avenue, between Huntington Street and Delaware Street, to comply with the primary arterial street classification in the General Plan Circulation. Element. The proposed) street improvements will provide an additional through lane and bike lane in each direction of travel. In addition, the projects scope of work includes clearing and grubbing, the construction of asphalt concrete roadway,striping,curb,gutter,sidewalk; an 8-foot left concrete block wail atop a variable height (7 ft. max.) retaining wall, landscaping (including the removal or relocation of 25 trees within the existing mobile home park), reconstruction of a 24 ft. wide drive aisle (circulation road)and two emergency access gates within the mobile home park, deconstruction and removal of eight mobile homes and utility,and fire hydrant adjustment: and relocation. In addition, five utility poles and overhead lines currently located within the existing southerly parkway:area will require relocation. The poles:wiil be relocated approximately 25 feet to the south to allow for the widening of.Atlanta Avenue: SCE will transfer the existing subtransmission and distribution .: circuits to the new wood poles. Gas,cable,sewer, and water lines, located within existing City ROW and within the existing circulation road in the Pacific Mobile Home Park(Pll will be protected in-place or relocated during project construction: In accordance with the City's franchise agreements, the utility companies will be responsible for the relocation and/or adjustment of their facilities, however, their physical relocation is incorporated into this environmental analysis.It should be noted. that the project requires approval of:a.coastal development permit for development in the coastal zone and:a conditionai:use permit for the proposed wall height.A separate public hearing before the Planning Commission will be scheduled for.-the associated CDP and CBP. Construction of the proposed street improvements. will require the acquisition of an additional 25 feet of public street right-of-way south of the centerline of Atlanta --- ad proof pg.1 -- CLASS17H 1'ED ADVERTI1ISINi `k$lle s.. Wtiilow 7" Printedhy 0602PatriciaGaminn Jdn3t 20t3 t0+f1'am Soy tt�ga Salesperson: A' fig Aagle :Phone Adi g# 73572 Avenue (i.e., the public street right-of-way is: proposed at 55 ft.south of street centerline).The additional 25 feet of right-of-way would come from: a 25 feet wide by 630 feet long (approx_) strip of landfrom the Pacific Mobile Home Park located immediately south of Atlanta Avenue. The acquisition of the 25 feet would impact eight manufactured/mobile homes (Unit.Nos. 101, 102, 204301,302,401,501,and 502)within the park. The impacted residents would need to be relocated. pursuant to the Federal Uniform Relocation Assistance and Real Property Acquisition Policies Act of 1970 ("The Uniform Act"). A Mitigated Negative Declaration(MND) was adopted by the City of Huntington-Beach City Council in:January 2011.Subsequent to adoption of the MND'in 2011, a lawsuit was filed challenging the City's approval of the MND. As a result of the California Environmental. Quality Act (CEQA) lawsuit, the Court required the City to set-aside approval of the 2011 MND and conduct additional environmental analysis, which is reflected in the Draft Recirculated Mitigated Negative Declaration. Location: Atlanta Avenue Right-of-Way: between Huntington Street and Delaware Street: Pacific Mobile Home Park: 80 Huntington Street (south side of Atlanta Avenue,between Huntington Street and Delaware Street) Project Planner: Jennifer Villasenor NOTICE IS HEREBY GIVEN that the initial environmental assessment for the above item was processed and completed in accordance with the California Environmental Quality. Act. it was determined that Item # 1, with mitigation, would not have any significant environmental effects and that a recirculated mitigated negative declaration is warranted. The recirculated mitigated negative declaration (No. 09-001) is on file at the City of Huntington Beach Planning and Building Department, 2000 Main Street, and is available for public inspection and comment by contacting the Planning and Building- Department, or by telephoning(714)536-5271. ON FILE: A copy of the proposed request is on file in the Planning and'Building Department, 20M Main Street, Huntington Beach, California 92648, for inspection by the public. A copy of the staff report will be available to interested parties at the City Clerk's Office or on line at http://www.huntingtoubeachca.gov on Thursday,February 14,2013. ALL INTERESTED PERSONS are invited to attend said hearing and express opinions or submit evidence for or against the application as outlined above. If you challenge the City Council's action in court,you may be limited:to raising only those issues you or someone else raised at the public hearing described in this. notice, or in written correspondence delivered to the City at, or prior to, the public hearing. If there are any further questions please call the Planning and Building Department at (714) 536-5271 and refer to the above items. Direct your written communications to the City Clerk Joan L.Flynn,City Clerk City of Huntington Beach 2000 Main Street,2nd Floor Huntington Beach,California 92648 714-536-5227 Mtp//huntingtoaI—hca.gw/HBPublidnmm Ws/ Published H.B.Independent2/7/13 --- ad proof pg.2 --- 09 LS/09 Lg®NaAV 0OAE app2dwoo ww L9 x ww gZ j72waoj ap allanb113 09 LS/09 Lg@ AaaAV qm algl}72dwoo,,S/g Z x«L azlss laqul A ,� L2 J 3 HB Chamber of Commerce Orange County Assoc. of Realtors Amigos Bolsa Chi a President Dave Stefanides reside t 1 2134 Main St. Ste. 100 25552 La Paz Road 0. Bo 156 Huntington Beach, CA 92648 Laguna Hills, CA 92653 Huntin ton , ach„�t�A 92647 4 4 Sunset Beach Community Assoc. Sunset BeacY Local Coastal Program Huntington Beach Tomorrow Pat Thies, President Advisory 136ard—County of,Orange President PO Box 215 P. 0. B:/746 , PO Box 865 Sunset Beach CA 90742-0215 Sun et Beac , CA 90742-0746 Huntington Beach, CA 92648 L6, 7 8 3uilding industry Assoc. of South Calif. 5CAG, ETI Gbrral 1,00 #ttn: Elyse Sminada, Govt.Affairs Asst. Rio and icer Jean Kim dell 17744 Sky Park Circle, Suite 170 818 est 7th, 12th Floor 20292 Eastod Ci cle Irvine, CA 92614 Lo�AngeJes, CA 90017 Hunt�gton B ach,�A 92646 L) 10 Environmental Board Chair Huntington Harbor:i CA Matrix Environmental Robert Smith P.O. Box 79,1� Attn: Shawn Gauer, Senior Planner 21352 Yarmouth Lane Suns Beach, 90742 6701 Center Drive West#900 Huntington Beach, CA 92646 / / Los Angeles, CA 90045 �2, 13 14 Rutan &Tucker, LLP Newland Ouse Mu �um Historic Resources Bo rd Chair Jeffrey M. Oderman Pres., H,�!Historica�- ociety Barbara Hay es 611 Anton Blvd., 14th Floor 19820 Beach Blvd. 1934 orch ter L,Ze Costa Mesa, CA 92626-1950 Hun,�ington Bea i, CA 92648 Hunti ton B ch, C, 92646 15 16 16 �---' Seaclif HOA � Council on Aging Se.icliff HqA 1706 Orange Ave. /Jeff Metzrel Jo Roe Beach CA 92648 193 �1 Shady rbor Circle 382 urfdale'Lane Huntington � Hu ington B ch, CA 92648 Hu tingt n Beacil, CA 92648 • 16 U 16 $�acliff ESA Suefohns'on Kirsten Berg you Mar�'none� 19671�Ctuie Bay Lane 18870 Kithira Circle Huntington Beach, CA 92648 1 821 Oc/eadn Bluff/brcle Hunt ton ach, CA 92648 g H tingtort Bea A 92648 18 19 Pacific Coast Archaeological Society, Inc. O.C. Ping. &,Dev. Y�� �ces Dept. O.C. Planning& Develop. Dept. At�n:Jane�othold� ' Direct Michael Balsamo P.O. Bpk'10926//� P.O. Box P.O. Box 4048 Costa Mesa,CA�2627 Sa to Ana, CR 92702-4048 Santa Ana, CA 92702-4048 201 21 22 City of Costa Mesa City of Fountain Va.liey City of Newport Beach Planning Director PIa ,h'.ing Direo6r Planning Director P.O. Box 1200 1/- 00 Slat Ave. P.O. Box 1768 Costa Mesa, CA 92628-1200 Fountain Valle , CA 92708 Newport Beach, CA 92663-8915 23 24 25 California Coastal Commission City of yvestmigster City a Seal Beach Theresa Henry Planning Director Planning D' ector south Coast Area office 8��2�()/ Aestm'rnster Blvd. /�211 Ei th St. 200 Oceangate,loth Floor W16stmins�ter, CA 92683 Seal Bea , CA 90740 Long Beach,CA 92802-4302 label size 1"x 2 5/8"compatible with Avery°5160/8160. / / � Ftimuette de format 25 mm x 67 mm compatible avec Avery 05160/8160 09i.9/09190 tiany 09AP algltetlwoq ww L9 x ww 9Z tewiol ap 91janb113 09[q/09I.9®lu9AH ql!m algltedwoo,,q/9 Z x j azls iagei ® 4 2 26 California Coastal Commission Department of Transportation, Dist. 12 Local Solid Waste Enf.Agy. South Coast Area Office Christopher Herre, Branch Chief O.C.Health Care Agency Director 200 Oceangate, 10th Floor 3337 Michelson Dr., Suite 380 P.O.Box ass Long Beach, CA 92802-4302 Irvine, CA 92612-1699 Santa Ana,CA 92702 1 28 1 29 29 Huntingtq�Beach k ost Office Fountain Valley Elena(. School Dist. Fountain./Valley EI m. School9'ist. New Growth C�ordinat/or /'Marc E6ker Rina Lu(f ese, EXecutive Assistant 771 W .�ner Aver 055 21'ley er Ave ue /ountain 10055 S�ter AvenuF ntain92708 Valley, CA 92708 Hu/ington7each, CA 92647 , 30 30 31 HB City lementa . School/Dist. HB Cityllementary SchoorDist. Ocean Vj w Elem. School Dist. Greg Haulk,S perinte//nfdent i John�chiald/ Attn: Cin�y Pulfer, Admin. Se ices 0451 C imer Larfe 204516raimer Lane 7200 Pi ehurst an // JJ H tington Beach, CA 92648 H�unting�in Beach,,&92648 H ntingto�Beach, CA' 2647 31 32 32 Ocean View EleZerinte�clent School Dist. Westmi ster S/ hool District Westminst r School District William oose Ch1istine"Lillert Richard Ta er, Super6nterident 1�ingotoonteach, Phurst Lae14 1 Ce rwood venue 14121 edarw dAvenue CA 92647 2lestm�(nster, CA'92683 We minst�r, CA 52683 Hun7 33 33 34 HB Union/�ligh School District HB Union/High School D�trict Cannery Ha Wilton Properties, L�LC Stephen Ritter/ Greg Pl�itko, S/uperinte//ndent Ascon Landf' I Site c/ amara/�eier 32 Bol�a/Ave t,e I Bo Sa Avenue One P inte Dri , Suite �20 e � Hunt ngton Btch,.CA 92649 Hu tington each," A 92649 Brea, C 92821 35 36 37 Golde est College OC County H rbors, B ach& Parks Bella`Terra Mall Att . Frefd�Owen Dept. Attn: at Roge-Laude 157 4 Gol/denwes St. P.O. Bo 4048/ 7777 Edinge Ave.#300 Huntirfgton beach, C, 92647 Sa to Ana, 92702-4048 Hunt i-gton B ach, CA 92647 38 38 39 Country View Estates F OA Country Viekv Estates'HOA Meadowlar Area Cfarrie oma� yGerid Chap an SaRly Gr am 42 Tr`otter L�r'ive S�hi�r�Circle51 Ge ing Circle / 2648 Huntington each, CA 92649 Hun mgti Beacf�,CA 92648 Huntln Bsach, CA 9 39 40 f 41 Meadowlark Area Heart ide Hom s Bolsa C 'Ea La d Trust Cheryle Browni g 6 Execut' e Circle, ite 250 5200 War er Av ue, Ste. 108 16771 Rodsevelt ane I ine, CA 9 614 Hunt/ ton Beach, CA 92649 Hunt�ngto�each„ A 92649 41 �� 42 AES Hunti ton Beach, L�L�C Bolsa Chica Land Tr st OC Sanitation District �� Evan Henry, ret esid nt 10844 Ellis Avenue Eric PeX7O draft, PI t M ager 1 Por iT n P ace Fountain Valley, CA 92708 21 Newl d St 18 2 Newport ach, C� 92660 Huntington B ach, CA 92646 42 423 J h'n Ely/%/ HB Coastal Communities Assoc. Richard Loyd y, 9 62 Kalui Drive 2210 Rockport Lane David Guido Huntir ton each�CA 92646 Hunti ton/ch, CA 92646 143 E. Meats Avenue g Orange, CA 92865 -- —label size 1"x 2 5/8°compatible with Avery®5160/8160 Etiquette de format 25 mm x 67 mm compatible avec Avery 05160/8160 0918/0919®7u9Ae oane algljedwoa ww L9 x ww gZ jewao�ap 91190143 0918/0919®Aaany qj!m alggedwoo„8/g Z x„G azls lagel 44 45 12 F4 Downtown Business Association Downtown Residents A sociation Gabrieleno/Tongva Tribal Council Mr. teve Heels Ms. Ma a St. G main Chairperson 200 ain S eet#106 5 Alab a PO Box 693 Huntin ton each, CA 92648 Huntin ton Be h, CA 92648 San Gabriel, CA 91778 47 47 Juaneno Band of Mission Indians AYSO Region 55 AY Re 6 Acjachemen Nation Commissioner Russ Marlow David F' e 31411 La Matanza Street 18111 e II Circle 2 91 Tra quit L e ian Juan Capistrano, CA 92675-2625 Huntingto B a h, A 92647 H tington ach, A 92646 47 47 47 AYSO Region 117 A SO egion 143 Huntington Beach Jr.All American Dav p r Fo II Com isi rn r JoJ,n Imanza 1603 Bo sa Chic #104 Barry Kudl k G rf� Id A e.; P B#163 1 432 G odwin ane Foun in V .ley, CA 2708 Huntin ton 3each, 92649 Hunt ngton each,C 92647 47 47 47 untington Beach Pop Warner Football ol Co st Extr me North Hun ingto Beach Futbol Club Ke lly es R�ick Bau r, Presi ent Presi ent S ereen alter 50 205 1 S burbia ane 15 1 Lak side La e Huntington Beach, CA 92615 Huntin ton each,C 92646 Hunting on B ach, CA 92648 47 47 47 South Coast Bayern Futbol Club Huntingt n Be ch Yout LaCrosse Oakview Rene al Part ership Vca na ich I Mutr J se Ro riguez La' 23-L3ne 761 isty Lae 7850 Suter e,Spac 59 ZZke92630 Hunti gton each,C 92649 Hunting on Be ch, CA 2647 47 47 47 Fountain Valley Pony Baseball Huntin ton Be ch Gir s Softball Huntingt n Vall y Little eague Al Letua Ge ry Stee e, Pre ident Michael ircher t_ 976 Corn all Driv 14 Yucc Circ 6172 S elly r. Huhtiragton ch, CA 92647 Hunti gton B ach, A 92647 Huntington Bea h, CA 2646 47 47 47 Ocean View Little League Ro inwood Little League Sea cah Litt a l ag e Stephanie Green, ent Kathryn eut I-Lui M cahel ailman 18 4 tarm nt Lane 6 51 Ren rick Circle 0. Bo 5305 Hu Ington ch, CA 92649 Hunti gton B ach CA 92647 Huntington Beach, CA 2615 47 47 48 South Huntington Beach Girls Fast Pitch West ounty F ily YMCA Westminster Village CA Softball Taina Hy en/Aa on Hoisington 520 Blackpool Ro d B ryryIbur 19891 ea Blvd.#17 Wes inste , CA 9 83 Box 2 Huntington Beach,CA 92648 Huntington Beach,CA 92615 8 49 � Regional E vironme tal Off! erfor Calif 51 Coastkeepers Briggs Law Corporation Weste n Region Enviro Office Gary Brown Attn:Valerie A. Mosqueda US Air Force 11 Sui te""C Street, ue 3151 Airway Ave.Suite F-110 99 East 333 S eet Sui a 625 Costa Mesa, CA 92663 Upland, CA 91786 San F�arket ncisco,IA 941 -2196 51 51 51 / Western RLion Jviron ntaI Office %UPS Navy F ft Irwin 5lieila Do ovan / Lt.Co.Paul D. mer Patri Chris man, erector / US Mari a Corps Bui ing 1164 Commune y�Plans Liaison Cgbrdinator Dir.of Publi Works t I Training Cntr ox 5552 1220 P cific Highway PO Bo 105097 San Diego,CA 921�3�-5190 Fort Ir. in,CA 92310 Camp Pendl n, 92055 5246 label size 1"x 2 5/8"compatible with Avery 05160/8160 Etiquette de format 25 mm x 67 mm compatible avec Avery 05160/8160 09L8/09196 fuany oane a1g11edwoo ww Lg x ww 9E lewaol op 9:49nbi13 09L8/09L9G,tiaAy 411M a1g11Edwoo„8/9 Z x„R azls lagq m 024-204-15 024-204-24 024-204-24 Occupant Occupant Occupant 201 Atlanta Ave 211 Atlanta Ave Unit A 211 Atlanta Ave Unit B Huntington Beach, CA 92648-5301 Huntington Beach, CA 92648-5308 Huntington Beach, CA 92648-5308 024-204-24 024-204-24 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92648-5310 Huntington Beach, CA 92648-5310 Huntington Beach, CA 92648-5310 024-204-08 024-204-08 024-204-25 Occupant Occupant Occupant 206 Baltimore Ave Unit A 206 Baltimore Ave Unit B 212 Baltimore Ave Huntington Beach, CA 92648-5200 Huntington Beach, CA 92648-5200 Huntington Beach, CA 92648-5210 024-204-21 024-204-18 024-204-19 Occupant Occupant Occupant 216 Baltimore Ave 218 Baltimore Ave 220 Baltimore Ave Huntington Beach, CA 92648-5210 Huntington Beach, CA 92648-5210 Huntington Beach, CA 92648-5210 024-203-28 024-261-22 939-500-36 Occupant Occupant Occupant 221 Baltimore Ave 313 Baltimore Ave 7648 Bay Dr Unit 101 Huntington Beach, CA 92648-5209 Huntington Beach, CA 92648-5211 Huntington Beach, CA 92648-5875 939-500-34 939-500-37 939-500-35 Occupant Occupant Occupant 7648 Bay Dr Unit 102 7648 Bay Dr Unit 201 7648 Bay Dr Unit 202 Huntington Beach, CA 92648-5876 Huntington Beach, CA 92648-5877 Huntington Beach, CA 92648-5888 label size 1"x 2 5/8"compatible with Avery°5160/8160 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Bldg 11 7815 Bayport Dr Bldg 11 7821 Bayport Dr Bldg 11 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 024-291-12 024-301-52 024-301-51 Occupant Occupant Occupant 7825 Bayport Dr Bldg 11 7786 Beachcomber Dr 7792 Beachcomber Dr Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5249 Huntington Beach, CA 92648-5249 024-301-50 024-301-49 024-301-48 Occupant Occupant Occupant 7796 Beachcomber Dr 7802 Beachcomber Dr 7806 Beachcomber Dr Huntington Beach, CA 92648-5249 Huntington Beach, CA 92648-5251 Huntington Beach, CA 92648-5251 024-301-47 024-301-46 024-301-45 Occupant Occupant Occupant 7816 Beachcomber Dr 7826 Beachcomber Dr 7832 Beachcomber Dr Huntington Beach, CA 92648-5251 Huntington Beach, CA 92648-5251 Huntington Beach, CA 92648-5251 024-301-09 024-301-20 024-301-08 Occupant Occupant Occupant 20931 Coastview Ln 20932 Coastview Ln 20935 Coastview Ln Huntington Beach, CA 92648-5271 Huntington Beach, CA 92648-5270 Huntington Beach, CA 92648-5271 024-301-07 024-301-21 024-301-06 Occupant Occupant Occupant 20941 Coastview Ln 20942 Coastview Ln 20945 Coastview Ln Huntington Beach, CA 92648-5271 Huntington Beach, CA 92648-5270 Huntington Beach, CA 92648-5271 024-301-22 024-301-23 024-301-05 Occupant Occupant Occupant 20946 Coastview Ln 20952 Coastview Ln 20961 Coastview Ln Huntington Beach, CA 92648-5270 Huntington Beach, CA 92648-5270 Huntington Beach, CA 92648-5271 024-301-04 024-301-03 024-301-02 Occupant Occupant Occupant 20965 Coastview Ln 20971 Coastview Ln 20975 Coastview Ln Huntington Beach, CA 92648-5271 Huntington Beach, CA 92648-5271 Huntington Beach, CA 92648-5271 024-301-01 024-261-17 024-261-16 - Occupant Occupant Occupant 20981 Coastview Ln 102 Huntington St 104 Huntington St Huntington Beach, CA 92648-5271 Huntington Beach, CA 92648-5225 Huntington Beach, CA 92648-5225 label size 1"x 2 5/8"compatible with Avery/55160/8160 Etiquette de format 25 mm x 67 mm compatible avec Avery/55160/8160 09!_8/09190 fuany oane algljedwoo ww Zq x ww 9Z jewjof ap @Uanbl13 09!_9/0919®fuany ql!m alq!iedwoo„8/9 Z x„G azls lagel 024-204-03 024-204-03 024-204-03 Occupant Occupant Occupant 105 Huntington St 105 Huntington St Unit A 105 Huntington St Unit B Huntington Beach, CA 92648-5224 Huntington Beach, CA 92648-5224 Huntington Beach, CA 92648-5224 024-261-15 024-261-14 024-261-13 Occupant Occupant Occupant 106 Huntington St 110 Huntington St 112 Huntington St Huntington Beach, CA 92648-5225 Huntington Beach, CA 92648-5225 Huntington Beach, CA 92648-5225 024-261-12 024-261-12 024-204-01 Occupant Occupant Occupant 114 Huntington St 116 Huntington St 119 Huntington-St Huntington Beach, CA 92648-5225 Huntington Beach, CA 92648-5225 Huntington Beach, CA 92648-5224 024-261-11 024-291-16 890-121-01 Occupant Occupant Occupant 120 Huntington St 80 Huntington St 80 Huntington St Unit 101 Huntington Beach, CA 92648-5225 Huntington Beach, CA 92648-5334 Huntington Beach, CA 92648-5336 890-129-01 800-121-03 800-121-04 Occupant Occupant Occupant 80 Huntington St Unit 102 80 Huntington St Unit 103 80 Huntington St Unit 104 Huntington Beach, CA 92648-5337 Huntington Beach, CA 92648-5336 Huntington Beach, CA 92648-5337 890-121-05 890-121-06 890-121-07 Occupant Occupant Occupant 80 Huntington St Unit 105 80 Huntington St Unit 106 80 Huntington St Unit 107 Huntington Beach, CA 92648-5336 Huntington Beach, CA 92648-5337 Huntington Beach, CA 92648-5336 890-121-08 800-121-09 800-121-10 Occupant Occupant Occupant 80 Huntington St Unit 108 80 Huntington St Unit 109 80 Huntington St Unit 110 Huntington Beach, CA 92648-5337 Huntington Beach, CA 92648-5336 Huntington Beach, CA 92648-5337 800-121-11 800-121-12 890-121-13 Occupant Occupant Occupant 80 Huntington St Unit 111 80 Huntington St Unit 112 80 Huntington St Unit 113 Huntington Beach, CA 92648-5336 Huntington Beach, CA 92648-5337 Huntington Beach, CA 92648-5336 890-121-14 890-121-15 800-121-16 Occupant Occupant Occupant 80 Huntington St Unit 114 80 Huntington St Unit 115 80 Huntington St Unit 116 Huntington Beach, CA 92648-5337 Huntington Beach, CA 92648-5336 Huntington Beach, CA 92648-5337 890-121-17 890-121-18 800-121-19 Occupant Occupant Occupant 80 Huntington St Unit 117 80 Huntington St Unit 118 80 Huntington St Unit 119 Huntington Beach, CA 92648-5336 Huntington Beach, CA 92648-5337 Huntington Beach, CA 92648-5336 label size 1"x 2 5/8"compatible with Avery 05160/8160 Etiquette de format 25 mm x 67 mm compatible avec Avery 05160/8160 09L9/09L90 Many oane algjedwco ww Zg x ww 9Z}ewiol ap aijanbl13 091.8/09L9®kany U11M algl}edwoo„8/9 Z x,,L azls lagel 890-121-20 800-121-21 890-121-22 Occupant Occupant Occupant 80 Huntington St Unit 120 80 Huntington St Unit 121 80 Huntington St Unit 122 Huntington Beach, CA 92648-5337 Huntington Beach, CA 92648-5336 Huntington Beach, CA 92648-5337 890-121-23 890-121-51 890-121-52 Occupant _ Occupant Occupant 80 Huntington St Unit 123 80 Huntington St Unit 151 80 Huntington St Unit 152 Huntington Beach, CA 92648-5336 Huntington Beach, CA 92648-5338 Huntington Beach, CA 92648-5338 890-121-53 890-121-54 890-121-55 Occupant Occupant Occupant 80 Huntington St Unit 153 80 Huntington St Unit 154 80 Huntington St Unit 155 Huntington Beach, CA 92648-5338 Huntington Beach, CA 92648-5338 Huntington Beach, CA 92648-5338 890-121-56 800-121-57 800-121-58 Occupant Occupant Occupant 80 Huntington St Unit 156 80 Huntington St Unit 157 80 Huntington St Unit 158 Huntington Beach, CA 92648-5338 Huntington Beach, CA 92648-5338 Huntington Beach, CA 92648-5338 800-121-59 800-121-60 890-121-61 Occupant Occupant Occupant 80 Huntington St Unit 159 80 Huntington St Unit 160 80 Huntington St Unit 161 Huntington Beach, CA 92648-5338 Huntington Beach, CA 92648-5339 Huntington Beach, CA 92648-5339 890-121-62 890-121-63 800-121-64 Occupant Occupant Occupant 80 Huntington St Unit 162 80 Huntington St Unit 163 80 Huntington St Unit 164 Huntington Beach, CA 92648-5339 Huntington Beach, CA 92648-5339 Huntington Beach, CA 92648-5339 800-121-65 890-121-66 890-121-67 Occupant Occupant Occupant 80 Huntington St Unit 165 80 Huntington St Unit 166 80 Huntington St Unit 167 Huntington Beach, CA 92648-5339 Huntington Beach, CA 92648-5339 Huntington Beach, CA 92648-5339 890-121-68 890-129-05 800-121-70 Occupant Occupant Occupant 80 Huntington St Unit 168 80 Huntington St Unit 169 80 Huntington St Unit 170 Huntington Beach, CA 92648-5339 Huntington Beach, CA 92648-5339 Huntington Beach, CA 92648-5339 890-121-71 890-122-01 890-122-02 Occupant Occupant Occupant 80 Huntington St Unit 171 80 Huntington St Unit 201 80 Huntington St Unit 202 Huntington Beach, CA 92648-5339 Huntington Beach, CA 92648-5340 Huntington Beach, CA 92648-5340 800-122-03 890-122-04 800-122-05 Occupant Occupant Occupant 80 Huntington St Unit 203 80 Huntington St Unit 204 80 Huntington St Unit 205 Huntington Beach, CA 92648-5340 Huntington Beach, CA 92648-5340 Huntington Beach, CA 92648-5340 label size 1"x 2 5/8"compatible with Avery 05160/8166 Etiquette de format 25 mm x 67 mm compatible avec Avery 05160/8160 09L8/09l.9@ 4AAy a9Ae 91q!p?dwoo ww Lg x ww gZ iewaof ap 9119*13 09G8/0919®tiany gjIM ajgljedwoo„8/g Z x j azls lagel • 800-122-06 800-122-07 890-122-08 Occupant Occupant Occupant 80 Huntington St Unit 206 80 Huntington St Unit 207 80 Huntington St Unit 208 Huntington Beach, CA 92648-5340 Huntington Beach, CA 92648-5340 Huntington Beach, CA 92648-5340 890-122-09 800-122-10 800-122-11 Occupant Occupant Occupant 80 Huntington St Unit 209 80 Huntington St Unit 210 80 Huntington St Unit 211 Huntington Beach, CA 92648-5340 Huntington Beach, CA 92648-5340 Huntington Beach, CA 92648-5341 890-122-12 890-122-13 890-122-14 Occupant Occupant Occupant 80 Huntington St Unit 212 80 Huntington St Unit 213 80 Huntington St Unit 214 Huntington Beach, CA 92648-5341 Huntington Beach, CA 92648-5341 Huntington Beach, CA 92648-5341 800-122-15 890-122-16 800-122-17 Occupant Occupant Occupant 80 Huntington St Unit 215 80 Huntington St Unit 216 80 Huntington St Unit 217 Huntington Beach, CA 92648-5341 Huntington Beach, CA 92648-5341 Huntington Beach, CA 92648-5341 890-129-02 890-122-19 800-122-21 Occupant Occupant Occupant 80 Huntington St Unit 218 80 Huntington St Unit 219 80 Huntington St Unit 221 Huntington Beach, CA 92648-5341 Huntington Beach, CA 92648-5341 Huntington Beach, CA 92648-5341 800-122-51 800-122-52 890-122-53 Occupant Occupant Occupant 80 Huntington St Unit 251 80 Huntington St Unit 252 80 Huntington St Unit 253 Huntington Beach, CA 92648-5342 Huntington Beach, CA 92648-5342 Huntington Beach, CA 92648-5342 800-122-54 800-122-55 890-122-56 Occupant Occupant Occupant 80 Huntington St Unit 254 80 Huntington St Unit 255 80 Huntington St Unit 256 Huntington Beach, CA 92648-5342 Huntington Beach, CA 92648-5342 Huntington Beach, CA 92648-5342 890-122-57 800-122-58 800-122-59 Occupant Occupant Occupant 80 Huntington St Unit 257 80 Huntington St Unit 258 80 Huntington St Unit 259 Huntington Beach, CA 92648-5342 Huntington Beach, CA 92648-5342 Huntington Beach, CA 92648-5342 890-129-09 800-122-61 890-122-62 Occupant Occupant Occupant 80 Huntington St Unit 260 80 Huntington St Unit 261 80 Huntington St Unit 262 Huntington Beach, CA 92648-5342 Huntington Beach, CA 92648-5343 Huntington Beach, CA 92648-5343 890-122-63 800-122-64 890-122-65 Occupant Occupant Occupant 80 Huntington St Unit 263 80 Huntington St Unit 264 80 Huntington St Unit 265 Huntington Beach, CA 92648-5343 Huntington Beach, CA 92648-5343 Huntington Beach, CA 92648-5343 label size 1"x 2 5/8"compatible with Avery 95160/8160 Etiquette de format 25 mm x 67 mm compatible avec Avery 05160/8160 09 L8/09 LS@[uany oaA*e agjudwoo ww L9 x ww SZ}uwaoj ap 91janbl13 , 09L9/09LS@ tiany ql!m alglIudwoo«8/S Z x«L azls laqul 800-122-66 890-122-67 890-122-68 Occupant Occupant Occupant 80 Huntington St Unit 266 80 Huntington St Unit 267 80 Huntington St Unit 268 Huntington Beach, CA 92648-5343 Huntington Beach, CA 92648-5343 Huntington Beach, CA 92648-5343 890-122-69 890-123-01 800-123-02 Occupant Occupant Occupant 80 Huntington St Unit 269 80 Huntington St Unit 301 80 Huntington St Unit 302 Huntington Beach, CA 92648-5343 Huntington Beach, CA 92648-5344 Huntington Beach, CA 92648-5344 800-123-03 890-123-04 890-123-05 Occupant Occupant Occupant 80 Huntington St Unit 303 80 Huntington St Unit 304 80 Huntington St Unit 305 Huntington Beach, CA 92648-5344 Huntington Beach, CA 92648-5344 Huntington Beach, CA 92648-5344 890-123-06 800-123-07 890-123-08 Occupant Occupant Occupant 80 Huntington St Unit 306 80 Huntington St Unit 307 80 Huntington St Unit 308 Huntington Beach, CA 92648-5344 Huntington Beach, CA 92648-5344 Huntington Beach, CA 92648-5344 800-123-09 890-123-10 890-123-11 Occupant Occupant Occupant 80 Huntington St Unit 309 80 Huntington St Unit 310 80 Huntington St Unit 311 Huntington Beach, CA 92648-5344 Huntington Beach, CA 92648-5344 Huntington Beach, CA 92648-5344 890-123-12 890-123-13 800-123-14 Occupant Occupant Occupant 80 Huntington St Unit 312 80 Huntington St Unit 313 80 Huntington St Unit 314 Huntington Beach, CA 92648-5344 Huntington Beach, CA 92648-5344 Huntington Beach, CA 92648-5344 890-123-15 890-123-17 890-123-51 Occupant Occupant Occupant 80 Huntington St Unit 315 . 80 Huntington St Unit 317 80 Huntington St Unit 351 Huntington Beach, CA 92648-5344 Huntington Beach, CA 92648-5344 Huntington Beach, CA 92648-5347 800-123-52 800-123-53 890-123-54 Occupant Occupant Occupant 80 Huntington St Unit 352 80 Huntington St Unit 353 80 Huntington St Unit 354 Huntington Beach, CA 92648-5347 Huntington Beach, CA 92648-5347 Huntington Beach, CA 92648-5347 890-123-55 890-123-56 890-123-57 Occupant Occupant Occupant 80 Huntington St Unit 355 80 Huntington St Unit 356 80 Huntington St Unit 357 Huntington Beach, CA 92648-5347 Huntington Beach, CA 92648-5347 Huntington Beach, CA 92648-5347 800-123-58 890-123-59 890-123-60 Occupant Occupant Occupant 80 Huntington St Unit 358 80 Huntington St Unit 359 80 Huntington St Unit 360 Huntington Beach, CA 92648-5347 Huntington Beach, CA 92648-5347 Huntington Beach, CA 92648-5347 label size 1"x 2 5/8"compatible with Avery ID5160/8160 o Etiquette de format 25 mm x 67 mm compatible avec Avery®5160/8160 091-8/09[q,@ Many oanu alquudwoo ww L9 x ww 9Z juwaof ap 91janbu3 091-8/0919®Many ql!m algljudwoo«8/9 Z x„l azis lequl 890-123-61 800-123-62 890-123-63 Occupant Occupant Occupant 80 Huntington St Unit 361 80 Huntington St Unit 362 80 Huntington St Unit 363 Huntington Beach, CA 92648-5347 Huntington Beach, CA 92648-5347 Huntington Beach, CA 92648-5347 800-123-64 890-123-65 890-123-66 Occupant Occupant Occupant 80 Huntington St Unit 364 80 Huntington St Unit 365 80 Huntington St Unit 366 Huntington Beach, CA 92648-5347 Huntington Beach, CA 92648-5347 Huntington Beach, CA 92648-5347 800-123-67 890-123-68 800-123-70 Occupant Occupant Occupant 80 Huntington St Unit 367 80 Huntington St Unit 368 80 Huntington St Unit 370 Huntington Beach, CA 92648-5347 Huntington Beach, CA 92648-5347 Huntington Beach, CA 92648-5347 890-129-03 890-124-01 800-124-02 Occupant Occupant Occupant 80 Huntington St Unit 372 80 Huntington St Unit 401 80 Huntington St Unit 402 Huntington Beach, CA 92648-5347 Huntington Beach, CA 92648-5348 Huntington Beach, CA 92648-5348 800-124-03 800-124-04 800-124-05 Occupant Occupant Occupant 80 Huntington St Unit 403 80 Huntington St Unit 404 80 Huntington St Unit 405 Huntington Beach, CA 92648-5348 Huntington Beach, CA 92648-5348 Huntington Beach, CA 92648-5348 890-124-06 890-124-07 800-124-08 Occupant Occupant Occupant 80 Huntington St Unit 406 80 Huntington St Unit 407 80 Huntington St Unit 408 Huntington Beach, CA 92648-5348 Huntington Beach, CA 92648-5348 Huntington Beach, CA 92648-5348 890-124-09 800-124-10 890-124-11 Occupant Occupant Occupant 80 Huntington St,Unit 409 80 Huntington St Unit 410 80 Huntington St Unit 411 Huntington Beach, CA 92648-5348 Huntington Beach, CA 92648-5348 Huntington Beach, CA 92648-5349 890-124-12 800-124-13 800-124-14 Occupant Occupant Occupant 80 Huntington St Unit 412 80 Huntington St Unit 413 80 Huntington St Unit 414 Huntington Beach, CA 92648-5349 Huntington Beach, CA 92648-5349 Huntington Beach, CA 92648-5349 890-124-15 890-124-16 800-124-17 Occupant Occupant Occupant 80 Huntington St Unit 415 80 Huntington St Unit 416 80 Huntington St Unit 417 Huntington Beach, CA 92648-5349 Huntington Beach, CA 92648-5349 Huntington Beach, CA 92648-5349 890-124-18 890-124-19 800-124-20 Occupant Occupant Occupant 80 Huntington St Unit 418 80 Huntington St Unit 419 80 Huntington St Unit 420 Huntington Beach, CA 92648-5349 Huntington Beach, CA 92648-5349 Huntington Beach, CA 92648-5349 label size 1"x 2 5/8"compatible with Avery 05160/8160 Etiouette de format 25 mm x 67 mm compatible avec Avery 05160/8160 0918/0919@ Aaand oaAE algijedwoo ww L9 x ww gZ jswaoi ap 9:qanbl13 ;. 0918/091g@ band gilM alglIedwoo,,8/g Z x„1 azis lagel ° 800-124-21 890-129-06 800-124-24 Occupant Occupant Occupant 80 Huntington St Unit 421 80 Huntington St Unit 422 80 Huntington St Unit 424 Huntington Beach, CA 92648-5349 Huntington Beach, CA 92648-5350 Huntington Beach, CA 92648-5350 890-124-26 890-124-28 800-124-30 Occupant Occupant Occupant 80 Huntington St Unit 426 80 Huntington St Unit 428 80 Huntington St Unit 430 Huntington Beach, CA 92648-5350 Huntington Beach, CA 92648-5350 Huntington Beach, CA 92648-5350 800-124-31 800-124-32 800-124-34 Occupant Occupant Occupant 80 Huntington St Unit 431 80 Huntington St Unit 432 80 Huntington St Unit 434 Huntington Beach, CA 92648-5350 Huntington Beach, CA 92648-5351 Huntington Beach, CA 92648-5351 800-124-36 890-124-38 800-124-40 Occupant Occupant Occupant 80 Huntington St Unit 436 80 Huntington St Unit 438 80 Huntington St Unit 440 Huntington Beach, CA 92648-5351 Huntington Beach, CA 92648-5351 Huntington Beach, CA 92648-5351 890-124-41 890-124-51 890-124-53 Occupant Occupant Occupant 80 Huntington St Unit 441 80 Huntington St Unit 451 80 Huntington St Unit 453 Huntington Beach, CA 92648-5351 Huntington Beach, CA 92648-5352 Huntington Beach, CA 92648-5352 800-124-55 890-124-57 890-124-59 Occupant Occupant Occupant 80 Huntington St Unit 455 80 Huntington St Unit 457 80 Huntington St Unit 459 Huntington Beach, CA 92648-5352 Huntington Beach, CA 92648-5352 Huntington Beach, CA 92648-5352 890-124-61 890-124-63 890-124-65 Occupant Occupant Occupant 80 Huntington St Unit 461 80 Huntington St Unit 463 80 Huntington St Unit 465 Huntington Beach, CA 92648-5356 Huntington Beach, CA 92648-5356 Huntington Beach, CA 92648-5356 890-124-67 800-124-69 890-124-71 Occupant Occupant Occupant 80 Huntington St Unit 467 80 Huntington St Unit 469 80 Huntington St Unit 471 Huntington Beach, CA 92648-5358 Huntington Beach, CA 92648-5358 Huntington Beach, CA 92648-5358 890-125-01 800-125-02 800-125-03 Occupant Occupant Occupant 80 Huntington St Unit 501 80 Huntington St Unit 502 80 Huntington St Unit 503 Huntington Beach, CA 92648-5353 Huntington Beach, CA 92648-5353 Huntington Beach, CA 92648-5353 890-125-04 800-125-05 800-125-06 Occupant Occupant Occupant 80 Huntington St Unit 504 80 Huntington St Unit 505 80 Huntington St Unit 506 Huntington Beach, CA 92648-5353 Huntington Beach, CA 92648-5353 Huntington Beach, CA 92648-5353 label size 1"x 2 5/8"compatible with Avery/55160/8160 kiduette de format 25 mm x 67 mm compatible avec Avery 05160/8160 09L8/09L9®fuany Dane algltedwoo ww L9 x ww gZ jewaoj ap a4anbl13 09L8/09L9@ 1uany qm algijedwoo„8/9 Z x„L azls lagel .800-125-07 890-125-08 800-125-09 Occupant Occupant Occupant 80 Huntington St Unit 507 80 Huntington St Unit 508 80 Huntington St Unit 509 Huntington Beach, CA 92648-5353 Huntington Beach, CA 92648-5353 Huntington Beach, CA 92648-5353 800-125-10 800-125-11 890-125-12 Occupant Occupant Occupant 80 Huntington St Unit 510 80 Huntington St Unit 511 80 Huntington St Unit 512 Huntington Beach, CA 92648-5353 Huntington Beach, CA 92648-5354 Huntington Beach, CA 92648-5354 890-125-13 890-125-14 800-125-15 Occupant Occupant Occupant 80 Huntington St Unit 513 80 Huntington St Unit 514 80 Huntington St Unit 515 Huntington Beach, CA 92648-5354 Huntington Beach, CA 92648-5354 Huntington Beach, CA 92648-5354 890-125-16 800-125-17 890-125-18 Occupant Occupant Occupant 80 Huntington St Unit 516 80 Huntington St Unit 517 80 Huntington St Unit 518 Huntington Beach, CA 92648-5354 Huntington Beach, CA 92648-5354 Huntington Beach, CA 92648-5354 800-125-19 890-125-20 890-125-21 Occupant Occupant Occupant 80 Huntington St Unit 519 80 Huntington St Unit 520 80 Huntington St Unit 521 Huntington Beach, CA 92648-5354 Huntington Beach, CA 92648-5354 Huntington Beach, CA 92648-5354 800-125-22 890-126-00 890-126-01 Occupant Occupant Occupant 80 Huntington St Unit 522 80 Huntington St Unit 600 80 Huntington St Unit 601 Huntington Beach, CA 92648-5354 Huntington Beach, CA 92648-5355 Huntington Beach, CA 92648-5355 800-126-02 890-126-03 800-126-04 Occupant Occupant Occupant 80 Huntington St Unit 602 80 Huntington St Unit 603 80 Huntington St Unit 604 Huntington Beach, CA 92648-5355 Huntington Beach, CA 92648-5355 Huntington Beach, CA 92648-5355 800-126-05 800-126-06 800-126-07 Occupant Occupant Occupant 80 Huntington St Unit 605 80 Huntington St Unit 606 80 Huntington St Unit 607 Huntington Beach, CA 92648-5355 Huntington Beach, CA 92648-5357 Huntington Beach, CA 92648-5357 890-126-08 800-126-09 890-126-10 Occupant Occupant Occupant 80 Huntington St Unit 608 80 Huntington St Unit 609 80 Huntington St Unit 610 Huntington Beach, CA 92648-5357 Huntington Beach, CA 92648-5357 Huntington Beach, CA 92648-5357 800-126-11 800-126-12 800-126-13 Occupant Occupant Occupant 80 Huntington St Unit 611 80 Huntington St Unit 612 80 Huntington St Unit 613 Huntington Beach, CA 92648-5357 Huntington Beach, CA 92648-5357 Huntington Beach, CA 92648-5357 label size 1"x 2 5/8"compatible with Avery 05160/8160 ' Etinuette de format 25 mm x 67 mm compatible avec Avery 65160/8160 09G8109G9®1u9ny oaAE algl}etluioo ww L9 x ww 9E leuiaol ap @Ilanblt3 09 G9/0919g luaAV gjinn algll.edwoo,,8/9 Z x„j azls lagel 890-126-14 890-126-15 800-126-16 Occupant Occupant Occupant 80 Huntington St Unit 614 80 Huntington St Unit 615 80 Huntington St Unit 616 Huntington Beach, CA 92648-5357 Huntington Beach, CA 92648-5357 Huntington Beach, CA 92648-5357 800-126-17 890-126-18 890-126-19 Occupant Occupant Occupant 80 Huntington St Unit 617 80 Huntington St Unit 618 80 Huntington St Unit 619 Huntington Beach, CA 92648-5357 Huntington Beach, CA 92648-5359 Huntington Beach, CA 92648-5359 890-126-20 800-126-21 890-126-22 Occupant Occupant Occupant 80 Huntington St Unit 620 80 Huntington St Unit 621 80 Huntington St Unit 622 Huntington Beach, CA 92648-5359 Huntington Beach, CA 92648-5359 Huntington Beach, CA 92648-5359 890-126-23 800-126-24 890-126-25 Occupant Occupant Occupant 80 Huntington St Unit 623 80 Huntington St Unit 624 80 Huntington St Unit 625 Huntington Beach, CA 92648-5359 Huntington Beach, CA 92648-5359 Huntington Beach, CA 92648-5359 890-126-26 800-126-27 800-126-28 Occupant Occupant Occupant 80 Huntington St Unit 626 80 Huntington St Unit 627 80 Huntington St Unit 628 Huntington Beach, CA 92648-5359 Huntington Beach, CA 92648-5359 Huntington Beach, CA 92648-5359 890-126-29 890-126-30 890-129-07 Occupant Occupant Occupant 80 Huntington St Unit 629 80 Huntington St Unit 630 80 Huntington St Unit 631 Huntington Beach, CA 92648-5359 Huntington Beach, CA 92648-5360 Huntington Beach, CA 92648-5360 890-126-32 800-126-33 890-126-34 Occupant Occupant Occupant 80 Huntington St Unit 632 80 Huntington St Unit 633 80 Huntington St Unit 634 Huntington Beach, CA 92648-5360 Huntington Beach, CA 92648-5360 Huntington Beach, CA 92648-5360 800-126-35 800-126-36 890-126-37 Occupant Occupant Occupant 80 Huntington St Unit 635 80 Huntington St Unit 636 80 Huntington St Unit 637 Huntington Beach, CA 92648-5360 Huntington Beach, CA 92648-5361 Huntington Beach, CA 92648-5361 890-126-38 800-126-39 890-126-40 Occupant Occupant Occupant 80 Huntington St Unit 638 80 Huntington St Unit 639 80 Huntington St Unit 640 Huntington Beach, CA 92648-5361 Huntington Beach, CA 92648-5361 Huntington Beach, CA 92648-5361 800-126-41 890-129-08 890-126-43 Occupant Occupant Occupant 80 Huntington St Unit 641 80 Huntington St Unit 642 80 Huntington St Unit 643 Huntington Beach, CA 92648-5361 Huntington Beach, CA 92648-5362 Huntington Beach, CA 92648-5362 label size 1"x 2 5/8"compatible with Avery 05160/8160 `� _ ' Ftimiatta rip,fnrmat 95 mm Y R7 mm Mmnatihia aver.Avery 05160/9160 09[q/09G9®(aany Dane aigltedwoo ww L9 x ww 9Z feiwoj ap a11anbij3 09[q/09 G9@ fuany 4iIM ap edwoo«8/9 Z x j azis lapel 800-126-44 800-126-45 890-126-46 Occupant Occupant Occupant 80 Huntington St Unit 644 80 Huntington St Unit 645 80 Huntington St Unit 646 Huntington Beach, CA 92648-5362 Huntington Beach,CA 92648-5362 Huntington Beach, CA 92648-5362 800-126-47 800-126-49 890-126-50 Occupant Occupant Occupant 80 Huntington St Unit 647 80 Huntington St Unit 649 80 Huntington St Unit 650 Huntington Beach, CA 92648-5362 Huntington Beach, CA 92648-5362 - Huntington Beach, CA 92648-5362 890-127-00 890-127-01 800-127-02 Occupant Occupant Occupant 80 Huntington St Unit 700 80 Huntington St Unit 701 80 Huntington St Unit 702 Huntington Beach, CA 92648-5364 Huntington Beach, CA 92648-5364 Huntington Beach, CA 92648-5364 890-127-03 890-129-04 800-127-05 Occupant Occupant Occupant 80 Huntington St Unit 703 80 Huntington St Unit 704 80 Huntington St Unit 705 Huntington Beach, CA 92648-5363 Huntington Beach, CA 92648-5363 Huntington Beach, CA 92648-5363 890-127-06 800-127-07 800-127-08 Occupant Occupant Occupant 80 Huntington St Unit 706 80 Huntington St Unit 707 80 Huntington St Unit 708 Huntington Beach, CA 92648-5363 Huntington Beach, CA 92648-5365 Huntington Beach, CA 92648-5365 800-127-09 890-127-10 800-127-11 Occupant Occupant Occupant 80 Huntington St Unit 709 80 Huntington St Unit 710 80 Huntington St Unit 711 Huntington Beach, CA 92648-5365 Huntington Beach, CA 92648-5365 Huntington Beach, CA 92648-5365 800-127-12 800-127-14 890-127-16 Occupant Occupant Occupant 80 Huntington St Unit 712 80 Huntington St Unit 714 80 Huntington St Unit 716 Huntington Beach, CA 92648-5365 Huntington Beach, CA 92648-5365 Huntington Beach, CA 92648-5365 890-127-18 024-291-14 024-291-12 Occupant Occupant Occupant 80 Huntington St Unit 718 7836 Mainmast Dr 7795.Neptune Dr Huntington Beach, CA 92648-5365 Huntington Beach, CA 92648-5410 Huntington Beach, CA 92648-5425 024-291-12 024-291-12 024-291-12 Occupant Occupant Occupant 7805 Neptune Dr Bldg 9 7811 Neptune Dr Bldg 9 7815 Neptune Dr Bldg 9 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 024-291-12 024-291-12 024-291-12 Occupant Occupant Occupant 7821 Neptune Dr Bldg 9 7825 Neptune Dr Bldg 9 7806 Neptune Dr Bldg 10 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 label size 1"x 2 5/8"compatible with Avery 05160/8160 biouette de format 25 mm x 67 mm comoatible avec Avery 05160/8160 09L8/09L9®tiany pane algljedwoc ww Zq x ww 9Z juwjol ap 91;anbl13 09L8/09L9®tiany Ul!m algljedwoa„q/9 Z x«L azls lagel 024-291-12 024-291-12 024-291-12 Occupant Occupant Occupant 7812 Neptune Dr Bldg 10 7816 Neptune Dr Bldg 10 7822 Neptune Dr Bldg 10 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 024-291-12 939-500-38 939-500-40 Occupant Occupant Occupant 7826 Neptune Dr Bldg 10 7623 Bay Dr Unit 101 7623 Bay Dr Unit 102 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5859 Huntington Beach, CA 92648-5861 939-500-43 939-500-46 939-500-39 Occupant Occupant Occupant 7623 Bay Dr Unit 103 7623 Bay Dr Unit 104 7623 Bay Dr Unit 201 Huntington Beach, CA 92648-5861 Huntington Beach, CA 92648-5862 Huntington Beach, CA 92648-5860 939-500-41 939-500-44 939-500-47 Occupant Occupant Occupant 7623 Bay Dr Unit 202 7623 Bay Dr Unit 203 7623 Bay Dr Unit 204 Huntington Beach, CA 92648-5861 Huntington Beach, CA 92648-5861 Huntington Beach, CA 92648-5862 988-250-75 937-150-07 937-150-08 Occupant Occupant Occupant 21100 Pacific Coast Hwy 7752 Sailboat Cir 7756 Sailboat Cir Huntington Beach, CA 92648-5307 Huntington Beach, CA 92648-5437 Huntington Beach, CA 92648-5437 937-150-09 937-150-10 937-150-11 Occupant Occupant Occupant 7762 Sailboat Cir 7766 Sailboat Cir 7772 Sailboat Cir Huntington Beach, CA 92648-5437 Huntington Beach, CA 92648-5437 Huntington Beach, CA 92648-5437 937-150-12 937-150-13 937-150-14 Occupant Occupant Occupant 7776 Sailboat Cir 7786 Sailboat Cir 7792 Sailboat Cir Huntington Beach, CA 92648-5437 Huntington Beach, CA 92648-5438 Huntington Beach, CA 92648-5438 937-150-15 937-150-16 937-150-01 Occupant Occupant Occupant. 7796 Sailboat Cir 7802 Sailboat Cir 7825 Sailboat Cir Huntington Beach, CA 92648-5438 Huntington Beach, CA 92648-5438 Huntington Beach, CA 92648-5440 937-150-02 937-150-03 937-150-04 Occupant Occupant Occupant 7821 Sailboat Cir 7815 Sailboat Cir 7811 Sailboat Cir Huntington Beach, CA 92648-5440 Huntington Beach, CA 92648-5440 Huntington Beach, CA 92648-5440 937-150-05 937-150-06 937-150-17 Occupant Occupant Occupant 7805 Sailboat Cir 7801 Sailboat Cir 7812 Sailboat Cir Huntington Beach, CA 92648-5440 Huntington Beach, CA 92648-5440 Huntington Beach, CA 92648-5438 label size 1"x 2 5/8"compatible with Avery 05160/8160 wan Etiquette de format 25 mm x 67 mm comoatible avec Avery 05160/8160 0919/09LS®7uany oane alquedwoo ww L9 x ww SZ}ewjof ap auanbi}3 OM/09Lgo AjaAV gtlM algljedwoo ,9/9 Z x«L azls legel ` 937-150-18 937-150-19 937-150-20 Occupant Occupant Occupant 7816 Sailboat Cir 7822 Sailboat Cir 7826 Sailboat Cir Huntington Beach, CA 92648-5439 Huntington Beach, CA 92648-5439 Huntington Beach, CA 92648-5439 937-150-21 937-150-22 024-301-25 Occupant Occupant Occupant 7832 Sailboat Cir 7836 Sailboat Cir 20945 Sailmaker Cir Huntington Beach, CA 92648-5439 Huntington Beach, CA 92648-5439 Huntington Beach, CA 92648-5272 024-301-24 939-500-30 939-500-29 Occupant Occupant Occupant 20951 Sailmaker Cir 20936 Sandbar Ln Unit 101 20936 Sandbar-Ln Unit 201 Huntington Beach, CA 92648-5272 Huntington Beach, CA 92648-5852 Huntington Beach, CA 92648-5852 939-500-28 939-500-31 939-500-33 Occupant Occupant Occupant 20936 Sandbar Ln Unit 102 20936 Sandbar Ln Unit 202 20936 Sandbar Ln Unit 203 Huntington Beach, CA 92648-5852 Huntington Beach, CA 92648-5852 Huntington Beach, CA 92648-5854 939-500-32 939-500-17 939-500-21 Occupant Occupant Occupant 20936 Sandbar Ln Unit 103 20962 Sandbar Ln Unit 101 20962 Sandbar Ln Unit 201 Huntington Beach, CA 92648-5852 Huntington Beach, CA 92648-5854 Huntington Beach, CA 92648-5856 939-500-18 939-500-22 939-500-25 Occupant Occupant Occupant 20962 Sandbar Ln Unit 102 20962 Sandbar Ln Unit 202 20962 Sandbar Ln Unit 301 Huntington Beach, CA 92648-5880 Huntington Beach, CA 92648-5856 Huntington Beach, CA 92648-5887 939-500-19 939-500-23 939-500-26 Occupant Occupant Occupant 20962 Sandbar Ln Unit 103 20962 Sandbar Ln Unit 203 20962 Sandbar Ln Unit 302 Huntington Beach, CA 92648-5856 Huntington Beach, CA 92648-5883 Huntington Beach, CA 92648-5882 939-500-20 939-500-24 939-500-27 Occupant Occupant Occupant 20962 Sandbar Ln Unit 104 20962 Sandbar Ln Unit 204 20962 Sandbar Ln Unit 303 Huntington Beach, CA 92648-5856 Huntington Beach, CA 92648-5857 Huntington Beach, CA 92648-5857 937-150-38 937-150-35 937-150-36 Occupant Occupant Occupant 7751 Seabreeze Dr 7771 Seabreeze Dr 7765 Seabreeze Dr Huntington Beach, CA 92648-5445 Huntington Beach, CA 92648-5445 Huntington Beach, CA 92648-5445 937-150-37 937-150-39 937-150-40 Occupant Occupant Occupant 7761 Seabreeze Dr 7745 Seabreeze Dr 7741 Seabreeze Dr Huntington Beach, CA 92648-5445 Huntington Beach, CA 92648-5445 Huntington Beach, CA 92648-5448 label size 1"x 2 5/8"compatible with Avery 05160/8160 Etiquette de format 25 mm x 67 mm compatible avec Avery 05160/8160 0918/09190Nany oaAu aigltudwoo ww Lg x ww 9Z iuwaof ap a149nblt3 e 091i3/0919®tiany PJIM algltedwoo,,q/4 Z x j azls lagel 937-150-41 937-150-42 937-150-43 Occupant Occupant Occupant 7742 Seabreeze Dr 7746 Seabreeze Dr 7752 Seabreeze Dr Huntington Beach, CA 92648-5448 Huntington Beach, CA 92648-5448 Huntington Beach, CA 92648-5448 937-150-44 937-150-45 937-150-46 Occupant Occupant Occupant 7756 Seabreeze Dr 7762 Seabreeze Dr 7766 Seabreeze Dr Huntington Beach, CA 92648-5448 Huntington Beach, CA 92648-5444 Huntington Beach, CA 92648-5444 '937-150-47 '937-150-48 937-150-49 Occupant Occupant Occupant 7776 Seabreeze Dr 7782 Seabreeze Dr 7786 Seabreeze Dr Huntington Beach, CA 92648-5444 Huntington Beach, CA 92648-5444 Huntington Beach, CA 92648-5444 937-150-50 '937-150-29 937-150-30 Occupant Occupant Occupant 7792 Seabreeze Dr 7805 Seabreeze Dr 7801 Seabreeze Dr Huntington Beach, CA 92648-5444 Huntington Beach, CA 92648-5446 Huntington Beach, CA 92648-5446 937-150-31 937-150-32 937-150-33 Occupant Occupant Occupant 7795 Seabreeze Dr 7791 Seabreeze Dr 7785 Seabreeze Dr Huntington Beach, CA 92648-5446 Huntington Beach, CA 92648-5446 Huntington Beach, CA 92648-5446 937-150-34 937-150-51 937-150-52 Occupant Occupant Occupant 7781 Seabreeze Dr 7802 Seabreeze Dr 7806 Seabreeze Dr Huntington Beach, CA 92648-5446 Huntington Beach,CA 92648-5447 Huntington Beach, CA 92648-5447 937-150-23 937-150-24 937-150-25 Occupant Occupant Occupant 7841 Seabreeze Dr 7835 Seabreeze Dr 7831 Seabreeze Dr Huntington Beach, CA 92648-5449 Huntington Beach, CA 92648-5449 Huntington Beach, CA 92648-5449 937-150-26 937-150-27 937-150-28 Occupant Occupant Occupant 7825 Seabreeze Dr 7821 Seabreeze Dr 7815 Seabreeze Dr Huntington Beach, CA 92648-5449 Huntington Beach, CA 92648-5449 Huntington Beach, CA 92648-5449 937-150-53 937-150-54 937-150-55 Occupant Occupant Occupant 7816 Seabreeze Dr 7822 Seabreeze Dr 7826 Seabreeze Dr Huntington Beach, CA 92648-5447 Huntington Beach, CA 92648-5447 Huntington Beach, CA 92648-5447 937-150-56 937-150-57 937-150-58 Occupant Occupant Occupant 7832 Seabreeze Dr 7836 Seabreeze Dr 7842 Seabreeze Dr Huntington Beach, CA 92648-5447 Huntington Beach, CA 92648-5452 Huntington Beach, CA 92648-5452 label size 1"x 2 5/8"compatible with Avery 65160/8160 Etiquette de format 25 mm x 67 mm compatible avec Avery 65160/8160 091i3/091g®fuany cane algjedwoo ww Zg x ww gZ tewaof op 9119nbl13 09 L9/091g@ fuaAV u11M algl}edwoo u9/g Z x,j azls lapel 024-291-12 024-291-12 024-291-12 Occupant Occupant Occupant 7771 Seaglen Dr Bldg 14 7775 Seaglen Dr Bldg 14 7781 Seaglen Dr Bldg 14 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 024-291-12 024-291-12 937-152-81 Occupant Occupant Occupant 7785 Seaglen Dr Bldg 14 7791 Seaglen Dr Bldg 14 7796 Seaglen Dr Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5702 937-152-82 937-152-83 937-152-84 Occupant Occupant Occupant 7792 Seaglen Dr 7786 Seaglen Dr 7782 Seaglen Dr Huntington Beach, CA 92648-5702 Huntington Beach, CA 92648-5426 . Huntington Beach, CA 92648-5426 937-152-85 937-152-86 937-152-69 Occupant Occupant Occupant 7776 Seaglen Dr 7772 Seaglen Dr 7801 Seaglen Dr Huntington Beach, CA 92648-5426 Huntington Beach, CA 92648-5426 Huntington Beach, CA 92648-5704 937-152-70 937-152-71 937-152-72 Occupant Occupant Occupant 7805 Seaglen Dr 7811 Seaglen Dr 7815 Seaglen Dr Huntington Beach, CA 92648-5704 Huntington Beach, CA 92648-5705 Huntington Beach, CA 92648-5705 937-152-73 937-152-74 937-152-75 Occupant Occupant Occupant 7821 Seaglen Dr 7825 Seaglen Dr 7832 Seaglen Dr Huntington Beach, CA 92648-5705 Huntington Beach, CA 92648-5705 Huntington Beach, CA 92648-5703 937-152-76 937-152-77 937-152-78 Occupant Occupant Occupant 7826 Seaglen Dr 7822 Seaglen Dr 7816 Seaglen Dr Huntington Beach, CA 92648-5703 Huntington Beach, CA 92648-5703 Huntington Beach, CA 92648-5703 937-152-79 937-152-80 024-291-12 Occupant Occupant Occupant 7812 Seaglen Dr 7806 Seaglen Dr 7771 Starshell Dr Bldg 5 Huntington Beach, CA 92648-5702 Huntington Beach,CA 92648-5702 Huntington Beach, CA 92648-5425 024-291-12 024-291-12 024-291-12 Occupant Occupant Occupant 7775 Starshell Dr Bldg 5 7781 Starshell Dr Bldg 5 7785 Starshell Dr Bldg 5 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 024-291-12 024-291-12 024-291-12 Occupant Occupant Occupant 7791 Starshell Dr Bldg 5 7795 Starshell Dr Bldg 5 7772 Starshell Dr Bldg 8 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 label size 1"x 2 5/8"compatible with Avery 05160/8160 Etiquette de format 25 mm x 67 mm compatible avec Avery 05160/8160 09l.8/09Gg@ fJGAy aaAE op1judwoo ww Lg x ww SZ iPwjoj ap allanbl13 09[9/09[So tiaAV utlM algltedwoo,,8/9 Z x j azls loqul 024-291-12 024-291-12 024-291-12 Occupant Occupant Occupant 7776 Starshell Dr Bldg 8 7782 Starshell Dr Bldg 8 7786 Starshell Dr Bldg 8 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 024-291-12 024-291-12 024-291-12 Occupant Occupant Occupant 7792 Starshell Dr Bldg 8 7796 Starshell Dr Bldg 8 .7805 Starshell Dr Bldg 6 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 024-291-12 024-291-12 024-291-12 Occupant Occupant Occupant 7811 Starshell Dr Bldg 6 7815 Starshell Dr Bldg 6 7821 Starshell Dr Bldg 6 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 024-291-12 024-291-12 024-291-12 Occupant Occupant Occupant 7825 Starshell Dr Bldg 6 7831 Starshell Dr Bldg 6 7806 Starshell Dr Bldg 7 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 024-291-12 024-291-12 024-291-12 Occupant Occupant Occupant 7812 Starshell Dr Bldg 7 7816 Starshell Dr Bldg 7 7822 Starshell Dr Bldg 7 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 024-291-12 024-291-12 '024-291-12 Occupant Occupant Occupant 7826 Starshell Dr Bldg 7 7832 Starshell Dr Bldg 7 21021 Sundown Ln Bldg 4 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 024-291-12 024-291-12 024-291-12 Occupant Occupant Occupant 21025 Sundown Ln Bldg 4 21027 Sundown Ln Bldg 4 21031 Sundown Ln Bldg 4 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 024-291-12 024-291-12 024-291-12 Occupant Occupant Occupant 21035 Sundown Ln Bldg 4 21045 Sundown Ln Bldg 3 21051 Sundown Ln Bldg 3 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 024-291-12 024-291-12 024-291-12 Occupant Occupant Occupant 21055 Sundown Ln Bldg 3 21061 Sundown Ln Bldg 3 21065 Sundown Ln Bldg 3 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 024-291-12 024-291-12 024-291-12 Occupant Occupant Occupant 21071 Sundown Ln Bldg 3 21085 Sundown Ln Bldg 2 21091 Sundown Ln Bldg 2 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 label size 1"x 2 5/8"compatible with Avery 05160/8160 biauette de format 25 mm x 67 mm compatible avec Avery 05160/8160_ 09L8/09[So luny oane alglfedwoo ww L9 x ww SZ}ewjo�ap 91janbIA a 09 L8/09 G5o fuany qj!m alglfedwoo„8/g Z x„t.azls lagel 024-291-12 024-291-12 024-291-12 Occupant Occupant Occupant 21095 Sundown Ln Bldg 2 21101 Sundown Ln Bldg 2 21105 Sundown Ln Bldg 2 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 024-291-12 024-291-12 024-291-12 Occupant Occupant Occupant 21117 Sundown Ln Bldg 1 21121 Sundown Ln Bldg 1 21125 Sundown Ln Bldg 1 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 024-291-12 024-291-12 937-193-71 Occupant Occupant Occupant 21131 Sundown Ln Bldg 1 21135 Sundown Ln Bldg 1 21246 Baeza Cir Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5425 Huntington Beach, CA 92648-5328 937-193-72 937-193-73 937-193-74 Occupant Occupant Occupant 21254 Baeza Cir 21262 Baeza Cir 21270 Baeza Cir Huntington Beach, CA 92648-5328 Huntington Beach, CA 92648-5328 Huntington Beach, CA 92648-5328 937-193-79 937-193-75 937-193-80 Occupant Occupant Occupant 21246 Ronda Cir 21247 Ronda Cir 21254 Ronda Cir Huntington Beach, CA 92648-5345 Huntington Beach, CA 92648-5346 Huntington Beach,CA 92648-5345 937-193-76 937-193-81 937-193-77 Occupant Occupant Occupant 21255 Ronda Cir 21262 Ronda Cir 21263 Ronda Cir Huntington Beach, CA 92648-5346 Huntington Beach, CA 92648-5345 Huntington Beach, CA 92648-5346 937-193-82 937-193-78 937-193-83 Occupant Occupant Occupant 21270 Ronda Cir 21271 Ronda Cir 21247 Elda Cir Huntington Beach, CA 92648-5345 Huntington Beach, CA 92648-5346 Huntington Beach, CA 92648-5381 937-193-84 937-193-85 937-193-86 Occupant Occupant Occupant 21255 Elda Cir 21263 Elda Cir 21271 Elda Cir Huntington Beach, CA 92648-5381 Huntington Beach, CA 92648-5381 Huntington Beach, CA 92648-5381 937-194-45 937-194-46 937-194-47 Occupant Occupant Occupant 7780 Lorenzo Dr 7786 Lorenzo Dr 7792 Lorenzo Dr Huntington Beach, CA 92648-5330 Huntington Beach, CA 92648-5330 Huntington Beach, CA 92648-5330 937-194-48 939-500-42 939-500-45 Occupant Occupant Occupant 7798 Lorenzo Dr 7623 Bay Dr Unit 301 7623 Bay Dr Unit 302 Huntington Beach, CA 92648-5330 Huntington Beach, CA 92648-5861 Huntington Beach, CA 92648-5861 label size 1"x 2 5/8"compatible with Avery/55160/8160 Etiquette de format 25 mm x 67 mm compatible avec Avery 35160/8160 091-8/09190tiany oaAa algnadwoo ww L9 x ww 9Z}awio�ap 94anbg3 09I-8/0919@ tiaAV ql!m algl}adwoo,,8/9 Z x„G azls lagal 939-500-48 024-261-21 024-261-21 Occupant Occupant !Occupant 7623 Bay Dr Unit 303 116 Huntington St Unit B 116 Huntington St Unit A 303 Huntington.Beach, CA 92648-5225 Huntington Beach, CA 92648-5225 Huntington Beach, CA 92648-5862 024-261-18 024-261-24 024-261-24 Occupant Occupant Occupant 311 Atlanta Ave 401 Atlanta Ave Unit 1 401 Atlanta Ave Unit 10 Huntington Beach,CA 92648-5304 Huntington Beach, CA 92648-5319 'Huntington Beach, CA 92648-5369 024-261-24 024-261-24 024-261-24 Occupant Occupant Occupant 401 Atlanta Ave Unit 11 401 Atlanta Ave Unit 12 401 Atlanta Ave Unit 13 Huntington Beach, CA 92648-5369 Huntington Beach, CA 92648-5369 Huntington Beach, CA 92648-5369 024-261-24 024-261-24 M4-261-24 Occupant Occupant Occupant 401 Atlanta Ave Unit 14 401 Atlanta Ave Unit 15 401 Atlanta Ave Unit 16 Huntington Beach, CA 92648-5369 Huntington Beach, CA 92648-5318 Huntington Beach, CA 92648-5318 024-261-24 024-261-24 024-261-24 Occupant Occupant Occupant 401 Atlanta Ave Unit 17 401 Atlanta Ave Unit 18 401 Atlanta Ave Unit 19 Huntington Beach, CA 92648-5318 Huntington Beach, CA 92648-5318 Huntington Beach, CA 92648-5318 024-261-24 024-261-24 024-261-24 Occupant Occupant Occupant 401 Atlanta Ave Unit 2 401 Atlanta Ave Unit 20 401 Atlanta Ave Unit 21 Huntington Beach, CA 92648-5319 Huntington Beach, CA 92648-5318 Huntington Beach, CA 92648-5318 024-261-24 024-261-24 024-261-24 Occupant Occupant Occupant 401 Atlanta Ave Unit 22 401 Atlanta Ave Unit 23 401 Atlanta Ave Unit 24 Huntington Beach, CA 92648-5370 Huntington Beach, CA 92648-5370 Huntington Beach, CA 92648-5370 024-261-24 024-261-24 024-261-24 Occupant Occupant Occupant 401 Atlanta Ave Unit 25 401 Atlanta Ave Unit 26 401 Atlanta Ave Unit 27 Huntington Beach, CA 92648-5370 Huntington Beach, CA 92648-5370 Huntington Beach, CA 92648-5370 024-261-24 024-261-24 024-261-24 Occupant Occupant Occupant 401 Atlanta Ave Unit 28 401 Atlanta Ave Unit 29 401 Atlanta Ave Unit 3 Huntington Beach, CA 92648-5370 Huntington Beach, CA 92648-5317 Huntington Beach, CA 92648-5319 024-261-24 024-261-24 024-261-24 Occupant Occupant Occupant 401 Atlanta Ave Unit 30 401 Atlanta Ave Unit 31 401 Atlanta Ave Unit 32 Huntington Beach, CA 92648-5317 Huntington Beach, CA 92648-5317 Huntington Beach, CA 92648-5317 label size 1"x 2 5/8"compatible with Avery 05160/8160 Etiquette de format 25 mm x 67 mm compatible avec Avery 55160/8160 0919/09G5®fJ@AV Dane elglledwoo ww L9 x ww 9Z lewaol ep 9119nbl13 0919/0915©tjany ql!m alglledwoo,,B/9 Z x«L azls lapel 024-261-24 024-261-24 024-261-24 Occupant Occupant Occupant 401 Atlanta Ave Unit 33 401 Atlanta Ave Unit 34 401 Atlanta Ave Unit 35 Huntington Beach, CA 92648-5317 Huntington Beach, CA 92648-5317 Huntington Beach, CA 92648-5317 024-261-24 024-261-24 024-261-24 Occupant Occupant Occupant 401 Atlanta Ave Unit 36 401 Atlanta Ave Unit 37 401 Atlanta Ave Unit 38 Huntington Beach, CA 92648-5371 Huntington Beach, CA 92648-5371 Huntington Beach, CA 92648-5371 024-261-24 024-261-24 024-261-24 Occupant Occupant Occupant 401 Atlanta Ave Unit 39 401 Atlanta Ave Unit 4 401 Atlanta Ave Unit 40 Huntington Beach, CA 92648-5371 Huntington Beach, CA 92648-5319 Huntington Beach, CA 92648-5371 024-261-24 024-261-24 024-261-24 Occupant , Occupant Occupant 401 Atlanta Ave Unit 41 401 Atlanta Ave Unit 42 401 Atlanta Ave Unit 43 Huntington Beach, CA 92648-5371 Huntington Beach, CA 92648-5371 Huntington Beach, CA 92648-5372 024-261-24 024-261-24 024-261-24 Occupant Occupant Occupant 401 Atlanta Ave Unit 44 401 Atlanta Ave Unit 45 401 Atlanta Ave Unit 46 Huntington Beach, CA 92648-5372 Huntington Beach, CA 92648-5372 Huntington Beach, CA 92648-5372 024-261-24 024-261-24 024-261-24 Occupant Occupant Occupant 401 Atlanta Ave Unit 47 401 Atlanta Ave Unit 48 401 Atlanta Ave Unit 49 Huntington Beach, CA 92648-5372 Huntington Beach, CA 92648-5372 Huntington Beach, CA 92648-5372 024-261-24 024-261-24 024-261-24 Occupant Occupant Occupant 401 Atlanta Ave Unit 5 401 Atlanta Ave Unit 50 401 Atlanta Ave Unit 51 Huntington Beach, CA 92648-5319 Huntington Beach, CA 92648-5316 Huntington Beach, CA 92648-5316 024-261-24 024-261-24 024-261-24 Occupant Occupant Occupant 401 Atlanta Ave Unit 52 401 Atlanta Ave Unit 53 401 Atlanta Ave Unit 54 Huntington Beach, CA 92648-5316 Huntington Beach, CA 92648-5316 Huntington Beach, CA 92648-5316 024-261-24 024-261-24 024-261-24 Occupant Occupant Occupant 401 Atlanta Ave Unit 55 401 Atlanta Ave Unit 6 401 Atlanta Ave Unit 7 Huntington Beach, CA 92648-5316 Huntington Beach, CA 92648-5319 Huntington Beach,CA 92648-5319, 024-261-24 024-261-24 937-193-57 Occupant Occupant Occupant 401 Atlanta Ave Unit 8 401 Atlanta Ave Unit 9 21261 Alanis Cir Huntington Beach, CA 92648-5369 Huntington Beach, CA 92648-5369 Huntington Beach, CA 92648-5324 label size 1"x 2 5/8"compatible with Avery 05160/8160 ° Etiquette de format 25 mm x 67 mm compatible aver Avery 05160/8160 0919/09190 fuaAV oaAe.alglfetlwoo ww Lg x ww gZ tewaoj ap aitanba]l 091.8/09190 fuany gtlM alglfedwoo„8/9 Z x„G azls label m 937-193-56 937-193-58 937-193-60 Occupant Occupant Occupant 21253 Alanis Cir 21265 Alanis Cir 21250 Alanis Cir Huntington Beach, CA 92648-5324 Huntington Beach, CA 92648-5324 Huntington Beach, CA 92648-5323 937-193-61 937-193-62 937-193-59 Occupant Occupant Occupant 21254 Alanis Cir 21262 Alanis Cir 21246 Alanis Cir Huntington Beach, CA 92648-5323 Huntington Beach, CA 92648-5323 Huntington Beach, CA 92648-5323 937-193-67 937-193-70 937-193-69 Occupant Occupant Occupant 21253 Baeza Cir 21269 Baeza Cir 21265 Baeza Cir Huntington Beach, CA,92648-5327 Huntington Beach, CA 92648-5327 Huntington Beach, CA 92648-5327 937-193-68 890-126-48 937-193-55 Occupant Occupant Occupant 21261 Baeza Cir 80 Huntington St Unit 648 21249 Alanis Cir Huntington Beach, CA 92648-5327 Huntington Beach, CA 92648-5362 Huntington Beach, CA 92648-5324 937-193-54 937-193-64 937-193-63 Occupant Occupant Occupant 21245 Alanis Cir 21270 Alanis Cir 21266 Alanis Cir Huntington Beach, CA 92648-5324 Huntington Beach, CA 92648-5323 Huntington Beach, CA 92648-5323 937-193-66 937-193-65 800-124-23 Occupant Occupant Occupant 21249 Baeza Cir 21245 Baeza Cir 80 Huntington St Unit 423 Huntington Beach, CA 92648-5327 Huntington Beach, CA 92648-5327 Huntington Beach, CA 92648-5362 800-124-25 800-124-27 800-124-29 Occupant Occupant Occupant 80 Huntington St Unit 425 80 Huntington St Unit 427 80 Huntington St Unit 429 Huntington Beach, CA 92648-5362 Huntington Beach, CA 92648-5361 Huntington Beach, CA 92648-5361 024-204-23 024-204-23 024-272-02 Occupant Occupant Occupant 221 Atlanta Ave Unit 7 221 Atlanta Ave Unit 8 Huntington Beach, CA Huntington Beach, CA 92648-5320 Huntington Beach, CA 92648-5320 024-203-25 024-203-24 024-203-04 Occupant Occupant Occupant 203 Huntington St 201 Huntington St 205 Huntington St Unit B Huntington Beach, CA 92648-5226 Huntington Beach, CA 92648-5226 Huntington Beach, CA 92648-5226 024-203-04 024-261-09 024-261-09 Occupant Occupant Occupant 205 Huntington St Unit C 208 Huntington St Unit 1 208 Huntington St Unit 2 Huntington Beach, CA 92648-5226 Huntington Beach, CA 92648-5244 Huntington Beach, CA 92648-5244 label size 1"x 2 5/8"compatible with Avery°5160/8160 Etiquette de format 25 mm x 67 mm compatible avec Avery 05160/8160 09L9/09L9®1u9ny 09Ae elgijetlwoo ww L9 x ww gZ jumol op 91janbl13 09L9/09Lg®ti9Ay qj!m elgljedwoo„g/g Z x„L ozls lagel m . 024-261-09 024-261-09 024-261-09 Occupant Occupant Occupant 208 Huntington St Unit 3 208 Huntington St Unit 4 208 Huntington St Unit 5 Huntington Beach, CA 92648-5244 Huntington Beach, CA 92648-5244 Huntington Beach, CA 92648-5244 024-261-09 024-261-09 024-261-09 Occupant Occupant Occupant 208 Huntington St Unit 6 208 Huntington St Unit 7 208 Huntington St Unit 8 Huntington Beach, CA 92648-5244 Huntington Beach, CA 92648-5244 Huntington Beach, CA 92648-5244 ! i 024-261-10 024-261-10 024-261-10 Occupant Occupant Occupant 301 Baltimore Ave Unit A 301 Baltimore Ave Unit B 301 Baltimore Ave Unit C Huntington Beach, CA 92648-5274 Huntington Beach, CA 92648-5274 Huntington Beach, CA 92648-5274 024-261-10 024-204-29 024-204-26 Occupant Occupant Occupant 301 Baltimore Ave Unit D 109 Huntington St 111 Huntington St Huntington Beach, CA 92648-5274 Huntington Beach, CA 92648-5224 Huntington Beach, CA 92648-5224 024-204-28 024-204-27 024-204-12 Occupant Occupant Occupant 113 Huntington St 115 Huntington St 209 Atlanta Ave Huntington Beach, CA 92648-5224 Huntington Beach, CA 92648-5224 Huntington Beach, CA 92648-5301 024-204-14 024-204-13 Occupant Occupant 106 Alabama St 110 Alabama St Huntington Beach, CA 92648-5204 Huntington Beach, CA 92648-5204 024-261-28 024-261-26 Occupant Occupant 20950 Oceanside Ln 20915 Delaware St Huntington Beach, CA 92648 Huntington Beach, CA 024-312-44 024-203-04 Occupant Occupant 21300 Twin Dolphin Dr 205 Huntington St Unit A Huntington Beach, CA Huntington Beach, CA 92648-5226 024-203-04 Occupant 205 Huntington St Huntington Beach, CA 92648-5226 label size 1"x 2 5/8"compatible with Avery 05160/8160 Etiquette de format 25 mm x 67 mm compatible avec Avery 05160/8160