HomeMy WebLinkAboutSan Joaquin Reservoir Improvement Project - Statement of Fin NOTICE OF DETERMINATION
To: From:
❑ Office of Planning and Research City of Huntington Beach
1400 Tenth Street,Room 121 Public Works Department
Sacramento, Ca 95814 2000 Main Street
Huntington Beach,CA 92648
■ Orange County Clerk's Office
Public Services Division
211 W. Santa Ana Blvd.,2nd Floor
Santa Ana, CA 92702
SUBJECT: Filing of Notice of Determination in compliance with Section 21108 or 21152 of the
Public Resources Code.
Project Title: SAN JOAQUIN RESERVOIR IMPROVEMENT PROJECT
State Clearinghouse Number: 88113031 Contact Person: Jeff Renna Phone: (714) 536-5527
Project Location: 38 Ridgeline Drive,Newport Beach. County of Orange. CA 92660.
(approximately 2.5 miles south of the University of California at Irvine).
Project Description: Construction of reservoir liner, floating cover, and appurtenant facilities at the San
Joaquin Reservoir.
This is to advise that the City of Huntington Beach City Council has approved the above described
project and has made the following determinations regarding the above described project:
1. The project ■ will, ❑will not,have a significant effect on the environment.
2. ■ An Environmental Impact Report was prepared for this project pursuant to the
provisions of CEQA.
❑ A Negative Declaration was prepared for this project pursuant to the
provisions of CEQA.
3. Mitigation Measures ■were, ❑were not, make a condition of approval of the project.
4. A statement of Overriding Considerations ■ was, ❑was not, adopted for this project.
This is to certify that the final ■ Environmental Impact Report, ❑ Negative Declaration,with
comments and responses and record of the project approval is available to the General Public at:
City of Huntington Beach Department of Public Works
2000 Main Street, Huntington Beach, CA 926
Date Fin 1 Action Signa=
pUations Manager
Title
CALIFORNIA DEPARTMENT OF FISH AND GAME
CERTIFICATE OF FEE EXEMPTION
De Minimis Impact Finding
Project Title: SAN JOAQUIN RESERVOIR IMPROVEMENT PROJECT
Project Location: 38 Ridgeline Drive,Newport Beach, County of Orange, CA 92660.
Project Description: Construction of reservoir liner, floating cover, and appurtenant facilities at the San
Joaquin Reservoir.
Findings of Exemption:
The Metropolitan Water District has prepared an Environmental Impact Report for the project to evaluate the
potential for adverse environmental impacts. The City of Huntington Beach has reviewed the document and has
determined the following:
The proposed project will have de minimis or negligible impacts to fish and wildlife trust resources, as
determined in the environmental documents for the project. The project will be constructed within an
existing, lined reservoir and will not impact any undeveloped areas.
There is no evidence before the City of Huntington Beach Public Works Department that the proposed
project has any potential for individual or cumulative adverse effects on wildlife resources, as defined in
Section 711.2 of the Fish and Game Code.
Certification:
I hereby certify that the public agency has make the above finding and that the project will not individually of
cumulatively have an adverse effect on wildlife resources, as defined in Section 711.2 of the Fish and Game
Code.
By:
Signatu
Water r iis Naaig'!-,r
Title
City of Huntington Beach
Responsible Agency
Date
Return to:
Jeffrey R. Renna
City of Huntington Beach
P.O. Box 190
Huntington Beach, California 92648
NOTICE OF DETERMIINATION
(State Guideline §15096)
TO: County Clerk
County of Orange
Attention: Public Services Division, Room D-10
P.O. Box 838
Santa Ana, California 92702
Office of Planning and Research
1400 Tenth Street
Sacramento, California 95814
FROM: City of Huntington Beach
P.O. Box 190
Huntington Beach, California 92648
SUBJECT: Filing of Notice of Determination in Compliance with
Section 21152 of the Public Resources Code.
Project No. : State Clearinghouse Number 88113031
Project Name: San Joaquin Reservoir Improvement project
Project Location (Specific) : San Joaquin Hills 2 . 5 miles south of
the University of California,
Irvine. (Exhibits 1 and 2) .
Project Location: (City) Unincorporated (County) Orange
Description of Nature, Purpose and Beneficiaries of Project: The
project involves covering an existing open treated water reservoir
to improve water quality and the reliability of the reservoir in
meeting drinking water standards. The beneficiaries will be
existing and future City customers.
Name of Agency Undertaking Project: City of Huntington Beach (as
responsible agency) .
Contact Person:
Jeffrey R. Renna
Area Code: 714 Phone: 536-5527
Filing of Notice of Determination
Page 2
The City Council of the City of Huntington Bach, acting as a
responsible agency, on December , 1993 has approved the above
described project and has taken the following action:
X 1. Determined that the project X will will not have a
significant effect on the environment.
X 2. X An Environmental Impact Report ("EIR") has been
prepared by the Metropolitan Water District of
Southern California as Lead Agency, and considered
by the City of Huntington Beach as a Responsible
Agency.
A Negative Declaration was prepared for this
project pursuant to the provisions of CEQA.
A copy of the EIR and record of project approval
may be examined at the following address:
City of Huntington Beach
2000 Main Street
Huntington Beach, California 92648
X 3 . Mitigation measures X were were not made a
condition of the approval of the project: (See,
Attachment A)
If mitigation measures were made a condition of project
approval, a monitoring program was adopted pursuant to
the provision of CEQA to ensure compliance with the
mitigation measures. As noted on Attachment C, all
mitigation measures will be undertaken by the
Metropolitan Water District acting as the Lead Agency.
X 4. A statement of Overriding Considerations X was was,
not adopted for this project. (See Attachment B) .
r
Filing of Notice of Determination
Page 3
The information on this form is required to be submitted by state
agencies to the Office of Planning and Research by Public Resources
Code Section 21108 (a) . Public Resources Code Section 21152 (a)
requires local agencies to submit this information within five (5)
working days after the approval or determination becomes final to
the county clerk. The filing of the notice starts a 30-day statute
of limitations on court challenges to the approval of the project
under Public Resources Code Section 21167. Failure to file the
notice results in the extension of the statute of limitations to
180 days. The information filed by state agencies is maintained at
the Office of Planning and Research, 1400 Tenth Street, Sacramento,
California 95814 , telephone: (916) 445-0613 .
Je nn , ter-Operations Manager ,
S a mbW Responsible for Preparation
City Clerk and ex fficio Clerk
of the City Council of the City of
Huntington Beach, California
Date
6104-5/92
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REQUES FOR CITY COUNCIL ACTION
Date December 6 , 1993
Submitted to: Honorable Mayor and City Council
Submitted by: Michael T. Uberuaga, City Administrato (_�—
Prepared by: 10ouis F. Sandoval, Director of Public Works
Subject: SAN JOAQUIN RESERVOIR IMPROVEMENT PROJECT
APPROVED BY CITY COUNCIL
Consistent with Council Policy? �0Z 19�
[X] Yes [ ) New Policy or Exception
.
Statement of Issue, Recommended Action, Analysis, Funding Source, Alternative Actions, ac me
Statement of Issue:
The City of Huntington Beach is part owner of the San Joaquin Reservoir
and has been participating in the planning of an improvement project to
improve the reservoir's water quality. The Metropolitan Water District
(MWD) , acting as lead agency for the project, recently certified the
Final Environmental Impact report for the project and approved the
construction of a floating cover. The City, as an owner, is considered
a responsible agency and now must consider the Final EIR prepared by
MWD and reach its own conclusions on whether to approve the project.
Recommended Action:
1. Approve the San Joaquin Reservoir Improvement Project, utilizing
a floating cover as adopted by the Metropolitan Water District.
2 . Acting as a Responsible Agency, adopt the City of Huntington
Beach's Statement of Findings and overriding considerations and
Notice of Determination.
3 . Authorize Staff to file the Notice of Determination with the
County Clerk.
Analysis:
The City of Huntington Beach owns 7 . 28% of the San Joaquin Reservoir,
a drinking water reservoir located in the San Joaquin Hills of
unincorporated Orange County (see attached map) . Six other agencies,
consisting of the Metropolitan Water District (MWD) , the Irvine Ranch
Water District (IRWD) , the Mesa Consolidated Water District (MCWD) , the
City of Newport Beach (CNB) , the Laguna Beach County Water District
(LBCWD) and the South Coast Water District (SCWD) , complete the
ownership. MWD operates and maintains the reservoir under a trust
agreement involving all seven agencies. The reservoir is an open air
facility and thus is frequently subject to a myriad of problems
December 6, 1993
SAN JOAQUIN RESERVOIR IMPROVEMENT PROJECT
Page 2
relating to water quality. Maintaining acceptable quality has become
more difficult in recent years. The reservoir frequently is taken out
of service because of these water quality problems. This greatly
reduces its utility to all owners.
The water quality problems experienced in the reservoir have been
numerous and are expected to increase as development continues to
encroach upon the reservoir.. Details are explained in the Revised EIR
(MWD Report No. 1017) , pages 3-13, which is attached. These water
quality problems have included:
1. High Trihalomethane (THM) levels
2. Midge Fly larvae
3 . Crustaceans
4 . African Clawed Frogs
5. Coliform bacteria
6. High turbidity levels
7. Dissolved oxygen (especially in Huntington Beach)
8. High algae concentrations.
The EIR identifies four options to deal with improving the reservoir's
water quality:
1. No project
2 . Abandon the reservoir
3 . Cover the reservoir
4. Construct a treatment plant
Option No. 1 will not solve the problem. Because the water quality
problems of the past will continue, something must be done. The
upcoming EPA regulations will eventually force the City to stop its use
of the reservoir.
Option No. 2 will place a major burden on all of the owners, including
Huntington Beach. To replace the reservoir's function in Huntington
Beach, approximately $50 million would need to be spent on replacement
facilities.
Option No. 3 is the one selected by MWD and is the most cost effective
option from a water supply standpoint. The water currently entering
the reservoir is good quality drinking water. By covering the
reservoir, which will effectively seal the water from nature's
elements, the quality will not change. No additional treatment will
need to be done to the water leaving the reservoir. This option,
however, carries the potentially significant environmental effects that
cannot be avoided:
1. Visual change from covering the reservoir, on a project-specific
and cumulative basis.
2 . Short term noise increase during construction of the cover, on a
project-specific and cumulative basis.
December 6, 1993
SAN JOAQUIN RESERVOIR IMPROVEMENT PROJECT
Page 3
These effects will impact only the 101 residences within the
developments of Spy Glass Hill, Harbor Ridge and Harbor View Knoll,
located in the City of Newport Beach. The Newport Beach city boundary
abuts the reservoir property. Many of the 101 residences are located
on top of a ridge that directly overlooks the reservoir. Because of
the general clarity of the reservoir water, the existing view from
these residences is attractive. Covering the reservoir will
substantially change this view.
One major mitigation measure is identified in the EIR which will help
deal with the view problem. MWD will implement this measure by
spending up to $375, 000 to develop and implement a landscape screening
planting to lessen, to the extent feasible, aesthetic impacts from
homes within the Harbor Ridge subdivision that view the reservoir. The
plan will be developed by a landscape architect in consultation with
residents of the Harbor Ridge subdivision.
To deal with the noise problem, the mitigation measures identified in
the EIR will limit the hours of construction from 7: 00 a.m. to 7: 00
p.m. , Monday through Saturday. Construction equipment must use
properly operating noise suppression equipment.
Option No. 4 is the most expensive from both capital cost and
operating/maintenance cost standpoints. The cost to build a treatment
plant is estimated to be in the $80 - $100 million range, vs. about $20
million for the floating cover listed in Option No. 3 . Operational/
maintenance costs for the treatment plant option are estimated to be
$2 .5 - $3 . 0 million per year. The O & M costs for the floating cover
option are estimated to be $50, 000 per year. Additionally, Option
No. 4 creates more environmental impact than any other option. The
major unavoidable impacts are:
1. The use of energy several orders of magnitude above current levels
of energy usage (62 , 000 KWH/day proposed vs. 1000 KWH/day
existing) .
2 . The overall impact of locating a water treatment plant in the
middle of a future residential area. Feasible mitigation measures
have not worked at other locations. Additionally, since treatment
plants use significant quantities of chlorine and other dangerous
chemicals, their presence increases the potential danger to
residents. The truck traffic that would deliver these products is
also difficult to mitigate.
In view of the above, MWD determined that Option No. 3 , utilizing a
floating cover, should be the approved project. As explained above and
in the EIR in detail, this project option would have a significant,
unavoidable, adverse aesthetic impact (view) , and a temporary,
potentially significant, adverse, unavoidable noise impact during
construction. MWD has adopted all feasible mitigation measures with
respect to these impacts. Although these mitigation measures will
substantially lessen these impacts, the measures will not fully avoid
the impacts.
December 6, 1993
SAN JOAQUIN RESERVOIR IMPROVEMENT PROJECT
Page 4
Moreover, MWD has examined a reasonable range of options to the
proposed action. Based on this, MWD determined that none of the
options satisfies the following criteria: (1) Meets project
objectives; (2) is environmentally preferable to the proposed project;
and (3) is economically feasible.
City Staff, having been involved in the project's EIR process, agrees
with all of the above. To finalize the process, the City Council must
now: (1) Approve the project with the floating cover alternative; (2)
adopt a Statement of Findings and Overriding Considerations, and; (3)
Authorize Staff to file the Notice of Determination with the County
Clerk. Staff recommends that the Council do all of these and has
attached a recommended Statement of Findings and Overriding
Considerations as well as a Notice of Determination.
For the Council's information, all of the other owners of the reservoir
have approved the project as recommended and adopted appropriate
Statements of Finding and Overriding Considerations along with filing
their Notices of Determination with the County Clerk.
Funding Source:
Since the project will be funded directly by MWD, no funds are
required.
Alternative Actions:
1. Do not approve the project and direct Staff on how to proceed.
This action would delay the solution to the water quality problems
and may result in loss of the use of the reservoir if no other
acceptable solution can be found.
2 . Approve an option other than the floating cover. This would delay
the project as all of the owners need to agree on the solution.
Loss of use of the reservoir for some time may result.
3. Any option other than that recommended will result in delay of the
project and an increase in the final cost to all owners.
Attachments•
1. Location map for San Joaquin Reservoir
2. City of Huntington Beach's Statement of Findings and Overriding
Considerations
3. Notice of Determination
4. Final EIR as adopted by MWD (includes project descriptions),,
Revised Draft EIR, Supplement to Draft EIR, and MWD's Statement of
Findings and Overriding Considerations.
LFS:JRR:bb
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Return to:
Jeffrey R. Renna
City of Huntington Beach
P.O. Box 190
Huntington Beach, California 92648
NOTICE OF DETERMINATION
(State Guideline §15096)
TO: County Clerk
County of Orange
Attention: Public Services Division, Room D-10
P.O. Box 838
Santa Ana, California 92702
Office of Planning and Research
1400 Tenth Street
Sacramento, California 95814
FROM: City of Huntington Beach
P.O. Box 190
Huntington Beach, California 92648
SUBJECT: Filing of Notice of Determination in Compliance with
Section 21152 of the Public Resources Code.
Project No. : State Clearinghouse Number 88113031
Project Name: San Joaquin Reservoir Improvement project
Project Location (Specific) : San Joaquin Hills 2.5 miles south of
the University of California,
Irvine. (Exhibits 1 and 2) .
Project Location: (City) Unincorporated (County) Orange
Description of Nature, Purpose and Beneficiaries of Project: The
project involves covering an existing open treated water reservoir
to improve water quality and the reliability of the reservoir in
meeting drinking water standards. The beneficiaries will be
existing and future City customers.
Name of Agency Undertaking Project: City of Huntington Beach (as
responsible agency) .
Contact Person:
Jeffrey R. Renna
Area Code: 714 Phone: 536-5527
0
Filing of Notice of Determination
Page 2
The City Council of the City of Huntington Bach, acting as a
responsible agency, on December , 1993 has approved the above
described project and has taken the following action:
X 1. Determined that the project X will will not have a
significant effect on the environment.
X 2. X An Environmental Impact Report ("EIR") has been
prepared by the Metropolitan Water District of
Southern California as Lead Agency, and considered
by the City of Huntington Beach as a Responsible
Agency.
A Negative Declaration was prepared for this
project pursuant to the provisions of CEQA.
A copy of the EIR and record of project approval
may be examined at the following address:
City of Huntington Beach
2000 Main Street
Huntington Beach, California 92648
X 3 . Mitigation measures X were were not made a
condition of the approval of the project: (See
Attachment A)
If mitigation measures were made a condition of project
approval, a monitoring program was adopted pursuant to
the provision of CEQA to ensure compliance with the
mitigation measures. As noted on Attachment C, all
mitigation measures will be undertaken by the
Metropolitan Water District acting as the Lead Agency.
X 4. A statement of Overriding Considerations X was was
not adopted for this project. (See Attachment B) .
Filing of Notice of Determination
Page 3
The information on this form is required to be submitted by state
agencies to the Office of Planning and Research by Public Resources
Code Section 21108 (a) . Public Resources Code Section 21152 (a)
requires local agencies to submit this information within five (5)
working days after the approval or determination becomes final to
the county clerk. The filing of the notice starts a 30-day statute
of limitations on court challenges to the approval of the project
under Public Resources Code Section 21167. , Failure to file the
notice results in the extension of the statute of limitations to
180 days. The information filed by state agencies is maintained at
the Office of Planning and Research, 1400 Tenth Street, Sacramento,
California 95814, telephone: (916) 445-0613 .
Je nn to Operations Manager
S a mba Responsible for Preparation
City Clerk and ex fficio Clerk
of the City Council of the City of
Huntington Beach, California
Date
6104-5i92
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CITY OF HUNTINGTON BEACH
SAN JOAQUIN RESERVOIR
IMPROVEMENT PROJECT
STATEMENT OF FINDINGS AND
STATEMENT OF OVERRIDING CONSIDERATIONS
DECEMBER 1993
ATTACHMENT A
STATEMENT OF FINDINGS
INTRODUCTION
The Metropolitan Water District of Southern California (Metropolitan) proposes to
construct a floating cover over the San Joaquin Reservoir, a 3,050 acre-foot, open, treated-water
reservoir in the coastal foothills of unincorporated Orange County about 2.5 miles due south of
the University of California at Irvine. The reservoir is jointly owned by six local water
agencies: The Irvine Ranch Water District, the Mesa Consolidated Water District, the City of
Huntington Beach, the City of Newport Beach, the Laguna Beach County Water District, the
South Coast Water District, and Metropolitan, and is maintained and operated by Metropolitan
for the common benefit of the owners under a trust agreement.
The reservoir serves approximately 400,000 people in the 35-mile coastal strip from
Huntington Beach to Dana Point. Its primary functions are to provide necessary storage to meet
peak water demands, to meet demands in excess of the capacity of local wells and pumping
stations, and to continue critical,water service during major facility outages due to maintenance
requirements and catastrophic events. Chloraminated water is delivered to the reservoir from
Metropolitan's Robert B. Diemer Filtration Plant (Diemer Filtration Plant), via the East Orange
County Feeder No. 2. Under current operations, water within the reservoir is treated with high
amounts of free chlorine at the influent and again, to a lesser degree, at the effluent. The
reservoir delivers chlorinated water to its service area via the Irvine Cross Feeder. This water
is currently separated from other water delivered from the Diemer Filtration Plant via the
Orange County Feeder to avoid mixing chlorinated reservoir water with chloraminated water
from the Diemer Filtration Plant.
The reservoir has experienced periods of poor water quality, including turbidity,
unacceptable bacterial counts and high total trihalomethane (TTHM) levels. These conditions
have required extended periods of closure to avoid noncompliance with State and Federal
drinking water standards.
Metropolitan, as operator of the reservoir, has proposed the following objectives for the
project:
• To improve the water quality of the reservoir;
• To improve the operational aspects of providing treated water to its service area;
and,
• To provide a reliable source of emergency storage of potable water for its service
area.
To accomplish these objectives, Metropolitan proposes to construct a floating cover over
the reservoir. Installation of the Floating Cover constitutes the San Joaquin Reservoir
Improvement Project.
Metropolitan directed the preparation of a series of environmental documents, including
a Revised Draft Environmental Impact Report and Supplement, to evaluate the environmental
effects of the project. These findings are based on these environmental documents.
DESCRIPTION OF THE PROJECT
To meet the water quality, operational and storage objectives detailed above,
Metropolitan proposes to construct a Floating Cover over the San Joaquin Reservoir. The
Floating Cover would seal the reservoir from debris and sunlight, eliminating the need for
breakpoint chlorination of the reservoir influent. The water would continue to be treated with
chloramines upstream at the Diemer Filtration Plant, providing a chloramine residual for
continued disinfection downstream. Limited chlorination of reservoir effluent may still be
required.
Installation of the cover consists of the one-time construction of a perimeter concrete
anchor curb, and the attachment of a hypalon fabric membrane in pieces. Construction of the
Floating Cover would take between 12 to 18 months, during which time the reservoir would be
empty. The Supplement to the RDEIR describes the proposed project in detail. (See RDEIR,
§ 3.1.)
DEFINITIONS
As used in these findings:
"CEQA" means California Environmental Quality Act.
"CEQA Guidelines" means the State CEQA Guidelines (14 Cal. Code Reg., § 15000 et
5�gq•)-
"CHB" means the City of Huntington Beach.
"cfs" means cubic feet per second.
"Diemer Filtration Plant" means the Robert B. Diemer Filtration Plant.
"EIR" means Environmental Impact Report.
"FEIR" means Final Environmental Impact Report.
"MCL" means maximum contaminant level.
"Metropolitan" means the Metropolitan Water District of Southern California.
"NOP" means Notice of Preparation.
"OPR" means the Governor's Office of Planning and Research.
"Proposed project" or "project" means the proposed floating cover for the San Joaquin
Reservoir, also referred to as the "San Joaquin Reservoir Improvement Project."
"RDEIR" means Revised Draft Environmental Impact Report for the proposed project
issued in June 1992.
"Regional Board" means the Regional Water Quality Control Board.
A-2
"Supplement" means the Supplement to the Revised Draft EIR for the proposed project
issued in May 1993.
"TTHM" means Total Trihalomethanes.
BACKGROUND
In June 1992 Metropolitan released the "Revised Draft Environmental Impact Report for
the San Joaquin Reservoir Improvement Project" for a 45-day public review and comment period
in compliance with CEQA. Copies of the RDEIR were sent to interested and responsible
agencies, organizations, and individuals, and were made available to the general public upon
request. Copies of the RDEIR were also sent to four libraries in the project area.
On May 28, 1993, the "Supplement to the Revised Draft Environmental Impact Report
for the San Joaquin Reservoir Improvement Project" was released for a 30-day public review
and comment period in compliance with CEQA. In August 1993, the FEIR, incorporating
responses to comments made on the RDEIR and Supplement was released.
Metropolitan implemented an extensive public involvement program to ensure that public
concerns were fully addressed during the planning and environmental analysis of the proposed
project. The objectives of the public involvement effort were:
• to increase public understanding of the need to improve water quality in the San
Joaquin Reservoir.
• to increase public familiarity with the project alternatives under consideration.
0 to receive input from the public regarding potential impacts of construction and
operation of facilities associated with the proposed project.
• to understand public opinion about the proposed project.
• to address public comments and concerns.
• to respond to public questions and concerns and to demonstrate how Metropolitan
considered these comments in the project's decision-making process.
For this project, Metropolitan maintains a mailing list of over 200 public agencies,
property owners, homeowners associations and interested individuals. The NOP for the
proposed project was distributed on November 14, 1988, for a 45-day public review period.
During this review period, Metropolitan sought and obtained the involvement of concerned
parties at a public scoping meeting held December 1, 1988, at the Oasis Senior Citizens Center
in Newport Beach and through written comments received during the NOP review period.
Metropolitan coordinated extensively with public resource agencies, other public bodies
and special interest groups prior to and during the San Joaquin Reservoir Improvement Project's
CEQA process. This effort enabled Metropolitan to select a proposed project, the Floating
Cover, and to formulate mitigation measures and project alternatives that would minimize
environmental impacts.
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Metropolitan sought input from various resource agencies such as the California Coastal
Commission, California Department of Health Services, United States Environmental Protection
Agency, Regional Water Quality Control Board and California Department of Fish and Game,
as well as the Irvine Company, early in the planning process to help identify potentially
significant environmental impacts associated with the project. Metropolitan then addressed these
concerns, and others, in the environmental documentation prepared for the project.
Coordination efforts were undertaken to encourage input in the planning process from
the city and county agencies within the study area. At the city government level, the cities of
Newport Beach, Irvine, Costa Mesa, Huntington Beach, Laguna Beach and others were
consulted. County agencies contacted include the Orange County Environmental Management
Agency and the General Services Agency. Comments from these agencies were incorporated
and addressed in the RDEIR, Supplement and FEIR.
In July 1989, the Chambers Group, Inc., under contract to Metropolitan, prepared and
issued a Draft EIR for the proposed project. During the document's 45-day public review
period, from July 7 to August 21, 1989, public comments on the Draft EIR were solicited.
Written comments were submitted to Metropolitan and oral comments were received at a public
hearing. Comments on the Draft EIR required that additional technical analysis be conducted
in order to formulate adequate responses to these comments.
Due to the nature and extent of revisions to the Draft EIR, coupled with the length of
time that elapsed since the previous public review period, a Revised Draft EIR was prepared that
included Metropolitan's responses to the written and oral comments received on the Draft EIR.
The RDEIR was issued on June 30, 1992, and a public hearing was held on July 30, 1992. A
45-day public review period was initially provided. The review period was extended 90 days,
to mid-November 1992, at the request of residents near the reservoir. A second extension of
45 days was granted to the residents near the reservoir, providing a total public review period
of 180 days, ending December 29, 1992.
In addition to the lengthy public review period provided to the public, Metropolitan
conducted a broad public information program. Prior to the July 30, 1992, public hearing, three
meetings were scheduled by Metropolitan to answer questions asked by homeowners near the
reservoir. Metropolitan published a public information program entitled "Questions and Answers
about San Joaquin Reservoir that was available at the public hearing conducted for the RDEIR,
and reproduced as an appendix to this report. Metropolitan also made presentations to local city
councils, service clubs, community groups and water agencies, as well as meetings with the print
and broadcast media.
Metropolitan also made additional efforts to determine public opinion regarding the San
Joaquin Reservoir Improvement Project. To accomplish this, Metropolitan developed an
informational brochure and questionnaire. The brochure was randomly mailed to approximately
15,000 households within the San Joaquin Reservoir service area, as well as to each resident
immediately surrounding the reservoir. Results of the survey indicate that most of the people
surveyed desire to improve water quality and implement a cost effective solution to achieve this
objective.
Based on comments received on the RDEIR, Metropolitan decided to .publish a
Supplemental EIR to provide additional information regarding existing water quality problems
at the San Joaquin Reservoir; the Improvement Project objectives; the methods selected to meet
project objectives (the Floating Cover); and two alternatives to the cover which were rejected
due to inability to meet project objectives (the No Project Alternative) and greater environmental
impacts and infeasibility (the Treatment Plant (Site 2) Alternative).
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Metropolitan applied to the Office of Planning and Research for shortened public review
of the Supplement. OPR granted Metropolitan's request, and authorized a 30-day period for
public review and comment. The Supplement was released on June 1, 1993, and circulated for
a 30-day public review period (through July 1, 1993) to local and State agencies, to interested
individuals who had commented on the RDEIR, and to local public libraries. In August 1993,
the FEIR, incorporating responses to comments made on the RDEIR and Supplement, was
released.
ADMINISTRATIVE RECORD
For purposes of CEQA and the findings set forth herein, the administrative record of the
Board's decision on this project consists of the following:
1. Chambers Group, Inc., "Draft Environmental Impact Report for the San Joaquin
Reservoir Improvement Project" (July 1989);
2. The Revised Draft Environmental Impact Report for the San Joaquin Reservoir
Improvement Project (Metropolitan Report No. 1017) (June 1992);
3. Supplement to the Revised Draft Environmental Impact Report for the San
Joaquin .Reservoir Improvement Project (Metropolitan Report No. 1017) (May
1993);
4. The Final Environmental Impact Report for the proposed project, plus all
appendices and attachments thereto (August 1993), and;
5. Matters of common knowledge to the Board, including, but not limited to
currently enacted Federal, State and local laws and regulations.
FINDINGS REQUIRED UNDER CEQA
Under CEQA; prior to approving a project, the responsible agency, like the lead agency,
is required to make findings as required by Section 15091 of the CEQA Guidelines for each of
the significant environmental effects identified in an EIR. The possible findings are:
1. Changes or alterations have been required in, or incorporated into, the project
which avoid or substantially lessen the significant environmental effect as
identified in the Final EIR.
2. Such changes or alterations are within the responsibility and jurisdiction of
another public agency and not the agency making the finding. Such changes have
been adopted by such other agency or can and should be adopted by such other
agency
3. Specific economic, social, or other considerations make infeasible the mitigation
measures or project alternatives identified in the Final EIR.
These finding represent the City of Huntington Beach findings as required by CEQA.
SIGNIFICANT AND POTENTIALLY SIGNIFICANT ENVIRONMENTAL EFFECTS AND
MITIGATION MEASURES
The FEIR identified several significant or potentially significant environmental effects(or
"impacts") that the project will cause. Some of these significant or potentially significant effects
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can be fully avoided through the adoption of feasible mitigation measures. Others cannot be
avoided by the adoption of feasible mitigation measures or alternatives; however, these.effects
can be significantly reduced by the adoption of feasible mitigation measures, and they are
outweighed by overriding considerations discussed in Attachment B.
According to the FEIR, the only environmental effects that are significant or potentially
significant that cannot be avoided are:
• Visual change from covering the reservoir, on a project-specific and cumulative
basis.
• Short-term noise increase due to construction of Floating Cover, on a project-
specific and cumulative basis.
The discussion that follows examines each of the impacts deemed significant or
potentially significant. It sets forth either the reasons why the impacts are significant and
unavoidable, the mitigation measures adopted by the lead agency (Metropolitan) to substantially
lessen or avoid them, or the reasons why proposed mitigation measures proved to be infeasible
due to specific economic, social, environmental or other considerations. It should be noted that
Section 15096 of the CEQA Guidelines requires a responsible agency to mitigate only the direct
or indirect effects of those parts of the project which it decides to carry out, finance, or approve.
A. AESTHETICS
Potential Impacts: The project will result in a significant unavoidable aesthetic impact
as a result of covering an open-water reservoir with a Floating Cover. Specifically, construction
and operation of the project would result in a significant, unavoidable visual impact to the 101
residences which have full or partial views of the reservoir, as described in detail in the RDEIR
and the Supplement. (RDEIR, pp. 4-20 through 4-26; Supplement, pp. 3-6, 3-7.)
Mitigation Measures: The following mitigation measure identified in the Supplement ,
(Supplement, p. 3-7) is feasible:
• Metropolitan shall make available up to $375,000 to develop and
implement a landscape screening planting plan to lessen, to the extent
feasible, aesthetic impacts from homes within the Harbor Ridge
subdivision that view the reservoir, in accordance with the potential
aesthetic mitigation concept set forth in the Supplement. The landscaping
plan shall be developed by a landscape architect in consultation with
affected residents of the Harbor Ridge subdivision.
The landscaping plan shall focus on land to which Metropolitan
has, or can arrange to have, physical access. To the extent the plan calls
for plantings on land to which Metropolitan does not have, and cannot
arrange to have, physical access, that portion of the landscaping plan shall
be regarded as infeasible, and the funds to be made available by
Metropolitan to implement the landscaping plan shall be reduced by a .
proportionate amount.
Alternatively, to the extent the landscaping plan calls for plantings
on land controlled by residences within the Harbor Ridge subdivision,
Metropolitan shall place funds in a trust account for the benefit of affected
homes in the Harbor Ridge subdivision. The amount deposited in the trust
fund shall be a percentage of the overall cost of implementing the
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landscaping plan, with the percentage determined by dividing the cost of
making the called-for plantings on land controlled by residences within the
Harbor Ridge subdivision by the cost of implementing the landscaping
plan as a whole. The expenditure of the funds deposited in the trust
account shall be left to the sole discretion of affected homeowners in the
Harbor Ridge subdivision, provided, however, that the trust account shall
restrict the use of such funds solely to mitigating the project's aesthetic
impacts on such homes.
Lead Agency Finding: The above mitigation measure is practically and financially
feasible. Moreover, it would substantially lessen the visual impact of the Floating Cover on
those homes within the Harbor Ridge subdivision with a view of the reservoir. The project
would still, however, have a significant, unavoidable aesthetic impact on certain homes within
the Harbor Ridge subdivision, despite,the implementation of this mitigation measure. Moreover,
the aesthetic impact to homes with a view of the reservoir within the Spyglass Hill subdivision
would be significant and unmitigatable. (Supplement, pp. 3-6, 3-7.) Accordingly, the project
would have a significant, adverse and unavoidable aesthetic impact despite implementation of
this measure.
City of Huntington Beach Finding:
1. Changes or alterations have been required in, or incorporated into, the project
which avoid or substantially lessen the significant environmental effect as
identified in the Final EIR, however, some impacts will remain unmitigated.
2. Such changes or alterations are within the responsibility and jurisdiction of
another public agency and not the agency making the finding. Such changes have
been adopted by such other agency or can, and should be adopted by such other
agency.
B. NOISE
Potential Impacts: The project would create short-term noise impacts associated with
backhoes and cement trucks used in the construction of the anchor for the Floating Cover. This
impact would be temporary, minimal, no greater than other typical construction projects, and
would go largely unnoticed in light of background noise levels in the area. (RDEIR, pp. 4-35
through 4-37.)
Mitigation Measures: The following mitigation measures identified in the RDEIR
(RDEIR, p. 4-37; FEIR, Response 11-2) are feasible:
• Hours of construction shall be limited to between 7:00 a.m. and 7:00 p.m.
Monday through Saturday, with no construction on Sundays or holidays.
• Construction equipment shall use properly operating mufflers and engine shrouds.
• Equipment shall be stored and maintained away from sensitive receptors, such as
residences.
Lead Agency Finding: Even with adoption of these mitigation measures, this temporary
impact would remain potentially significant. (RDEIR, p. 4-37; FEIR, Response 11-2.)
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City of Huntington Beach Finding:
1. Changes or alterations have been required in, or incorporated into, the project
which avoid or substantially lessen the significant environmental effect as
identified in the Final EIR, however, some impacts will remain unmitigated.
2. Such changes or alterations are within the responsibility and jurisdiction of
another public agency and not the agency making the finding. Such changes have
been adopted by such other agency or can, and should be adopted by such other
agency.
C. EARTH RESOURCES
Potential Impacts: The proposed project could have a potentially significant impact .
from intensive ground-shaking from seismic activity during construction and operation. Absent
mitigation, this impact is a potentially significant adverse impact related to earth resources.
(RDEIR, p. 4-1.)
Mitigation Measures: The following mitigation measure identified in the RDEIR
(RDEIR, p. 4-1) is feasible:
• A registered engineering geologist or similar professional shall be used during
design and construction of the project.
Lead Agency Finding: Implementation of this mitigation measure would avoid this
impact. (RDEIR, p. 4-1.)
City of Huntington Beach Finding:
1. Changes or alterations have been required in, or incorporated into, the project
which avoid or substantially lessen the significant environmental effect as
identified in the Final EIR.
2. Such changes or alterations are within the responsibility and jurisdiction of
another public agency and not the agency making the finding. Such changes have
been adopted by such other agency or can, and should be adopted by such other
agency.
D. WATER RESOURCES
1. Potential Impacts: Construction of the proposed project could result in minor soil
disturbance at the reservoir site, which could in turn have a potentially significant impact on
water resources due to water runoff. (RDEIR, p. 4-3.)
Mitigation Measures: The following mitigation measure identified in the RDEIR
(RDEIR, p. 4-3) is feasible:
• Metropolitan shall notify the Regional Board prior to construction and/or
associated dewatering activities. If required by the Regional Board, Metropolitan
shall obtain an NPDES permit. Metropolitan (or its contractor) shall comply with
the terms of the NPDES permit, particularly any terms that may require settling
of suspended particulates prior to discharge.
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• •
Lead Agency Finding: Implementation of this mitigation measure would avoid this
impact. (RDEIR, p. 4-3.)
City of Huntington Beach Finding:
1. Changes or alterations have been required in, or incorporated into, the project
.which avoid or substantially lessen the significant environmental effect as
identified in the Final EIR.
2. Such changes or alterations are within the responsibility and jurisdiction of
another public agency and not the agency making the finding. Such changes have
been adopted by such other agency or can, and should be adopted by such other
agency.
2. Potential Impacts: The proposed project could have a potentially significant impact to
surface water'quality from storm water runoff from impervious surfaces during operations.
Absent mitigation, this impact is a potentially significant adverse impact related to water
resources. (RDEIR, pp. S-6, 4-4.)
Mitigation Measures: Metropolitan finds that the following mitigation measures
identified in the RDEIR (RDEIR, p. S-6, 4-5) are feasible:
• The floating cover shall be designed so that peak stormwater runoff can be stored
on top of the cover. Any accumulated stormwater runoff shall be dewatered at
a rate that does not increase historical peak runoff flow for the reservoir
watershed.
Lead Agency Finding: Implementation of these mitigation measures would avoid this
impact. (RDEIR, p. S-6, 4-5.)
City of Huntington Beach Finding:
1. Changes or alterations have been required in, or incorporated into, the project
which avoid or substantially lessen the significant environmental effect as
identified in the Final EIR.
2. Such changes or alterations are within the responsibility and jurisdiction of
another public agency and not the agency making the finding. Such changes have
been adopted by such other agency or can, and should be adopted by such other
agency.
E. TRAFFIC
Potential Impacts: The proposed project could have a potentially significant traffic
impact resulting from construction workers and truck traffic causing peak hour congestion at the
intersection of Ford Road and MacArthur Boulevard. Absent mitigation measures, this impact
is a potentially significant adverse traffic impact. (RDEIR, pp. 4-33, 4-34.)
Mitigation Measures: The following mitigation measure identified in the RDEIR
(RDEIR, p. 4-34) is feasible:
• If more than 80 construction workers are used at the site at any one time,
construction work hours shall be staggered and/or construction workers shall be
shuttled to the site from an off-site area.
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�► •
Lead Agency Finding: Implementation of this mitigation measure would avoid this
impact. (RDEIR, p. 4-34.)
City of Huntington Beach Finding:
1. Changes or alterations have been required in, or incorporated into, the project
which avoid or substantially lessen the significant environmental effect as
identified in the Final EIR.
2. Such changes or alterations are within the responsibility and jurisdiction of
another public agency and not the agency making the finding. Such changes have
been adopted by such other agency or can, and should be adopted by such other
agency.
F. CUMULATIVE IMPACTS
1. Aesthetics
Potential Impacts: The project will contribute to the area's ongoing and cumulatively
significant transition from an open, natural region to one devoted primarily to low-density, urban
land uses. (RDEIR, p. 7-8.)
Mitigation Measures: The mitigation measure identified in the Supplement(Supplement,
p. 3-7) will also reduce the project's contribution to the regionally significant change in the
visual character of the area.
Lead Agency Finding: This mitigation measure is practically and financially feasible.
Moreover, it would substantially lessen the visual impact of the Floating Cover on certain homes
with a view of the reservoir. The project would still contribute, however, to a cumulatively
significant aesthetic impact.
City of Huntington Beach Finding:
1. Changes or alterations have been required in, or incorporated into, the project
which avoid or substantially lessen the significant environmental effect as
identified in the Final EIR, however, some impacts will remain unmitigated.
2. Such changes or alterations are within the responsibility and jurisdiction of
another public agency and not the agency making the finding. Such changes have
been adopted by such other agency or can, and should be adopted by such other
agency.
2. Traffic
Potential Impacts: On a project-specific basis, traffic associated with construction of
the project will not be significant. The cumulative effect of construction of simultaneous
projects, including the proposed project, may have a significant cumulative effect on the
environment. (RDEIR, p. 7-8.)
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Mitigation Measures: The following mitigation measure identified in the RDEIR
(RDEIR, p. 7-8) is feasible:
• During construction, Metropolitan (or its contractor) shall coordinate with City
of Irvine and Orange County transportation officials and planners to coordinate
construction-related traffic between simultaneous projects, and to identify in
advance any road closures that may affect the project-so that alternate routes may
be developed.
Lead Agency Finding: Implementation of this mitigation measure would avoid this
impact. (RDEIR, p. 7-8.)
City of Huntington Beach Finding:
1. Changes or alterations have been required in, or incorporated into, the project
which avoid or substantially lessen the significant environmental effect as
identified in the Final EIR.
2. Such changes or alterations are within the responsibility and jurisdiction. of
another public agency and not the agency making the finding. Such changes have .
been adopted by such other agency or can, and should be adopted by such other
agency.
3. Noise
Potential Impacts: The project would create short-term noise impacts associated with
backhoes and cement trucks used in the construction of the anchor for the Floating Cover. This
impact, viewed in conjunction with other development in the area, could result in a temporary,
potentially significant impact. (RDEIR, pp. 7-8, 7-9.)
Mitigation Measures: The project-specific mitigation measures identified in the RDEIR
(RDEIR, p. 4-37; FEIR, Response 11-2) are feasible and would reduce the project's potential
contribution to potential significant regional, cumulative noise impacts.
Lead Agency Finding: Even with adoption of these mitigation measures, the project
would still potentially contribute to a potential cumulatively significant noise impact.
City of Huntington Beach Finding:
1. Changes or alterations have been required in, or incorporated into, the project
which avoid or substantially lessen the significant environmental effect as
identified in the Final EIR, however, some impacts will remain unmitigated.
2. Such changes or alterations are within the responsibility and jurisdiction of
another public agency and not the agency making the finding. Such changes have
been adopted by such other agency or can, and should be adopted by such other
agency.
t
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FEASIBILITY OF POTENTIAL PROTECT ALTERNATIVES
Because the project will potentially cause unavoidable, significant environmental effects,
as outlined above, Metropolitan has considered the feasibility of any environmentally superior
alternatives to the project, as proposed. Metropolitan has evaluated whether one or more of
these alternatives could avoid or substantially lessen the project's unavoidable significant
environmental effects. (Citizens for Quality Growth v. City of Mount Shasta (1988) 198
Cal.App.3d 433, 443-445, [243 Cal.Rptr. 727]; see also Public Resources Code, § 21002.) The
City of Huntington Beach, as a responsibility agency, must also consider such alternatives.
The proposed project would have a significant, unavoidable adverse environmental impact
with respect to the following:
• Visual change resulting from covering the open-water reservoir with a Floating
Cover, on a project-specific and cumulative basis.
• Short-term noise increase due to construction of Floating Cover, on a project-
specific and cumulative basis.
The RDEIR and Supplement examined a range of reasonable alternatives to the project
to determine whether any of these alternatives could meet the project's objectives, while avoiding
or substantially lessening its significant, unavoidable impacts. (RDEIR, p. 2-12; Supplement,
§ 4.0.) The following alternatives were examined:
• No project (i.e., continuation of existing operations).
• Installation of a rigid cover over the reservoir.
• Installation of an inflatable cover over the reservoir.
• Construction of a water treatment plant at alternative site 1.
• Construction of a water treatment plant at alternative site 2.
These findings examine these alternatives to the extent they lessen or avoid the project's
significant environmental effects. The City of Huntington Beach need not consider the
alternatives with respect to the project's environmental impacts that are insignificant or avoided
through mitigation.
A. NO PROJECT
The No Project Alternative would consist of continuing existing operations at the open-
water reservoir, as described in the Supplement. (RDEIR, p. 2-12; Supplement, p. 4-1.)
1. Aesthetics
Because there would be no construction of a Floating Cover, the No Project Alternative
would not result in any project-specific or cumulative aesthetic impacts. (RDEIR, p. 4-33.)
2. Noise
Because there would be no construction activities associated with the No Project
Alternative, the No Project Alternative would not result in any project-specific or cumulative
noise impacts. (RDEIR, p. 4-43.)
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3. Evaluation of Alternative
The No Project Alternative would avoid significant project-specific and cumulative
aesthetic impacts. Moreover, the No Project Alternative would avoid temporary, potentially
significant project-specific and cumulative noise impacts. Strictly on these bases, the No Project
Alternative is environmentally preferable to the proposed project.
The City of Huntington Beach rejects the No Project Alternative because it would result
in other, more serious environmental impacts and would fail to meet crucial project objectives.
First, the No Project Alternative would not address serious, existing water quality problems at
the reservoir, and thus would result in significant, adverse, unavoidable impacts to water
resources. (RDEIR, p. 4-6.)
In addition, the No Project Alternative would fail to meet project objectives.
Specifically, the Floating Cover is intended to meet the following objectives:
0 Improve water quality in the reservoir in a cost-effective manner so as to protect
public health and permit reliable operations.
• Meet existing and anticipated water quality standards.
• Continue to provide a reliable source of local regulatory and emergency storage
of potable water for customers within the San Joaquin Reservoir service area.
(Supplement, p. 2-6.) The No Project Alternative would meet none of these objectives.
The No Project Alternative considers what conditions are likely to occur if the Floating
Cover is not implemented, taking into account all planned but as yet not implemented
improvements to the water system that may address problems with the existing conditions..
These improvements may include converting the present free chlorine/chloramine disinfection .
process used at the Diemer Filtration Plant to ozonation/chloramine disinfection to help reduce
TTHM levels system-wide. Metropolitan is studying this procedure, which it may implement in
the event that TTHM standards become more stringent. (Supplement, p. 4-1.)
If implemented, the ozonation/chloramination process would reduce or eliminate the free
chlorine contact time at the treatment plants, which would result in lowered TTHM levels
system-wide, including at the San Joaquin Reservoir influent. However, the conversion would
not eliminate the need for breakpoint chlorination of San Joaquin Reservoir influent if the
reservoir remains uncovered. Breakpoint chlorination is necessary to prevent algal and
bacteriological (i.e., coliform) growth. (Supplement, § 2.1.) Algae utilizes the
ammonia/nitrogen components of chloramines and sunlight to grow. Breakpoint chlorination
removes the ammonia, substantially reducing the nutrient base and helping prevent algal and
associated bacteriological growth. Thus, even if Metropolitan implements a system-wide
ozonation/chloramination disinfection process, influent at the San Joaquin Reservoir would still
require breakpoint chlorination.
Although breakpoint chlorinating reservoir influent addresses the problems of algal and
bacteriological contamination, it will continue to cause elevated TTHM levels in the reservoir.
Thus, even though TTHM levels may be lowered upstream via a potential ozonation process,
the benefits of this process would be lost at the reservoir so long as breakpoint chlorination of
reservoir influent is required. (Supplement, pp. 4-1, 4-2.)
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By contrast, installing a Floating Cover would address the problems of algal and
bacteriological contamination by cutting sunlight infiltration and preventing the introduction of
organic materials, without the necessity of breakpoint chlorinating reservoir influent. Thus,
installing a Floating Cover would allow the preservation of any improvement in influent TTHM
levels realized by conversion to ozonation.
Without installing a cover, the reservoir would still be subject to bacteriological, taste
and odor problems (e.g., coliforms, algae, plankton, turbidity) resulting from exposure to
airborne debris, organic matter and sunlight. (Supplement, § 2.1.) These conditions contribute
to the difficulty of meeting MCLs for coliforms, in addition to causing taste and odor problems.
In addition to resulting in the potential to violate water quality standards for coliforms
and TTHMs, and to causing taste and odor problems, continuation of existing operations would
also affect the quality of Metropolitan's operations and its ability to provide a reliable source of
potable emergency and regulatory storage. Reservoir downtime has averaged 20 to 25 percent
in recent years (Supplement, § 2.1.3); unless improvements are made to correct problems
associated with existing operations, downtime is expected to remain at least this high and may
actually increase. An important factor in increased downtime is the new, more stringent Total
Coliform Rule. One of the sources of coliform contamination is sediment; in order to meet the
coliform standard Metropolitan may have to increase the frequency with which the reservoir is
cleaned. More frequent cleaning will result in the reservoir being shut down for longer periods-
of time.
Securing a reliable supply of potable water is a central objective of the San Joaquin
Reservoir Improvement Project. Without action, the existing conditions will cause continued
biological, bacteriological and chemical contamination of water, resulting in continued poor
water quality and substantial, unpredictable downtime of the reservoir. (Supplement, pp.. 4-1,
4-2.)
In sum, the City of Huntington Beach rejects the No Project Alternative on two grounds.
First, it would result in significant, adverse, unavoidable impacts to water resources. Second,
it is infeasible because it fails to meet the proposed project's objectives.
B. RIGID COVER
The Rigid Cover Alternative would consist of constructing a rigid cover over the
reservoir that would include a concrete roof system supported on steel or concrete columns
(RDEIR, pp. 2-18, 2-19.)
1. Aesthetics
Aesthetic impacts would be identical to those of the proposed project. With mitigation,
those impacts would be less than those of the proposed project, but they would remain
significant and unavoidable on both a project-specific and cumulative basis. (RDEIR, pp. 4-293
7-8.)
2. Noise
Construction of the Rigid Cover Alternative would cause significantly greater noise .
impacts than would the proposed project. (RDEIR, pp. 4-39, 7-9.)
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3. Evaluation of Alternative
The Rigid Cover Alternative would not avoid significant aesthetic impacts. Moreover,
construction of the Rigid Cover Alternative would cause significantly greater temporary noise
impacts. On this basis, the Rigid Cover Alternative is not environmentally preferable. The City
of Huntington Beach, therefore, rejects the Rigid Cover Alternative.
C. INFLATABLE COVER
The Inflatable Cover Alternative would consist of constructing an inflatable dome over
the reservoir similar to several sport stadiums now in operation around the country. The
inflatable cover would be kept inflated by a series of electrically powered blowers. (RDEIR,
p. 2-15.)
1. Aesthetics
Aesthetic impacts would be greater than those of the proposed project. The Inflatable
Cover would rise to a height ranging between 63 to 125 feet above the surface of the reservoir,
depending on the location, resulting in views from the residential area being dominated by the
presence of the inflatable dome. The view-shed from the townhomes fronting the reservoir
would be that of looking directly at the top half of the inflatable cover; due to the cover's height,
the view of the hills beyond the reservoir would also be partially blocked. In addition, due to
its height, the top portion of this cover also would be seen from homes in the Harbor Ridge,
Harbor View Knoll and Spy Glass Hill areas which normally do not have a reservoir view. The
presence of the Inflatable Cover would substantially degrade the view-shed and would increase
the number of viewers having a view of the cover, increasing the level of viewer sensitivity.
While a landscape screening planting plan would lessen the visual effects of the Floating Cover,
due to the Inflatable Cover's height, there is no mitigation available for this alternative.
2. Noise
Temporary noise impacts potentially associated with construction of the Inflatable Cover
Alternative would be similar to those temporary impacts potentially associated with the proposed
project. (RDEIR, p. 4-37.) Mitigation measures would be the same.
3. Evaluation of Alternative
The Inflatable Cover would not avoid, and in fact would worsen, significant aesthetic
impacts. Its potential noise impacts would be no different than those of the proposed project.
Thus, the Inflatable Cover is not environmentally preferable, and the City of Huntington Beach
rejects this alternative.
D. TREATMENT PLANT (SITE 1)
The Treatment Plant (Site 1) Alternative would consist of constructing a water treatment
plant to treat the water leaving the reservoir to meet microbiological and chemical standards
prior to distribution to the downstream water agencies. Site 1 is located just east of the reservoir
and would be connected to the existing water distribution system via a pipeline. (RDEIR, p. 2-
19.)
A-15
1. Aesthetics
The Treatment Plant (Site 1) Alternative would result in an unavoidable significant
aesthetic impact to the 19 homes in the Harbor Ridge Subdivision closest to the site. (RDEIR,
4-31, 4-32.) This impact could be lessened through implementation of landscape screening
mitigation similar to that for the proposed project, but this mitigation. would not avoid the
significant impact.
2. Noise
Temporary noise impacts potentially associated with construction of the Treatment Plant
(Site 1) Alternative would be similar to those temporary impacts potentially associated with the
proposed project. (RDEIR, p. 4-41.) Mitigation measures would be the same.
3. Evaluation of Alternative
The Treatment Plant(Site 1) Alternative would not avoid significant aesthetic impacts and
temporary, potentially significant noise impacts associated with construction. Moreover,
construction of the Treatment Plant (Site 1) alternative would result in the loss of approximately
40 acres of coastal sage scrub habitat, which is considered a significant, adverse, unavoidable
impact to biological resources. (RDEIR, p. 4-16.) In addition, the Treatment Plant (Site 1)
Alternative would have a significantly greater adverse impact with respect to energy use than
would the proposed project. (RDEIR, p. 4-47.) Finally, even if the Treatment Plant (Site 1)
Alternative were environmentally preferable to the proposed project, the City of Huntington
Beach would reject this alternative as infeasible because it would cost well over four times the
Floating Cover to construct and operate. For these reasons, the Treatment Plant (Site 1)
Alternative is not environmentally preferable to the proposed project, and the City of Huntington
Beach rejects this alternative.
E. TREATMENT PLANT (SITE 2)
The Treatment Plant (Site 2) Alternative would consist of constructing a water treatment
plant to treat the water leaving the reservoir to meet microbiological and chemical standards
prior to distribution to the water agencies. Site 2 is located approximately one mile east of the
reservoir and would require an approximately two-mile long pipeline to connect the existing
distribution system, as well as a pumping facility to move water from the reservoir to the
treatment plant. (RDEIR, p. 2-19; Supplement, pp. 4-2, 4-3.)
1. Aesthetics
The Treatment Plant(Site 2) Alternative would not result in a significant aesthetic impact.
(RDEIR, p. 4-33.)
2. Noise
The Treatment Plant (Site 2) Alternative would not result in a temporary, potentially
significant noise impact during construction. (RDEIR, pp. 4741, 4-42, 4-43.)
A-16
3. Evaluation of Alternative
The Treatment Plant (Site 2) Alternative would avoid the proposed project's significant
aesthetic impact, and would also avoid the proposed project's temporary, potentially significant
noise impact. Strictly on these bases, the Treatment Plant (Site 2) Alternative is the
environmentally preferably alternative.
In other respects, however, the Treatment Plant (Site 2) Alternative is not
environmentally preferable to the proposed project. The Treatment Plant (Site 2) Alternative
would have a significantly greater.adverse impact with respect to energy use than would the
proposed project. (RDEIR, p. 4-47; Supplement, p. 4-4).
In addition, the City of Irvine's General Plan designates the land surrounding the
Treatment Plant (Site 2) as both Open Space and Residential. A significant.impact could result
from locating an industrial use such as a water treatment plant in the middle of an area slated
for residential development. Mitigation for this type of land use incompatibility could include
providing a buffer zone between the treatment plant and residential uses. Metropolitan's
experience has shown, however, that such mitigation measures are fraught with difficulty. In
particular, water treatment plants use significant quantities of chlorine and other chemicals and
may increase truck traffic through residential neighborhoods. Rightly or wrongly, adjoining or
nearby residences often regard the presence of such chemicals and traffic as a threat to their
safety, regardless of whether a buffer zone is present. Absent a more specific land use plan for
the area, it is not possible at this time to determine the extent of the mitigation that would be
required, or even whether such measures would fully mitigate this impact. At a minimum, the
need to acquire land for a buffer zone would significantly increase the cost of the Treatment
Plant (Site 2) Alternative. Accordingly, because it is unclear whether this impact can be fully
mitigated, the City of Huntington Beach regards this impact as potentially significant and
unavoidable. (Supplement, pp. 4-3, 4-4.)
In light of substantially greater energy impacts.and potentially significant, adverse and
unavoidable land use impacts, and notwithstanding reduced impacts to aesthetics and temporary
construction noise, the City of Huntington Beach rejects the Treatment Plant(Site 2) Alternative
because it is not environmentally preferable to the proposed project.
Even if the Treatment Plant (Site 2) Alternative were environmentally preferable to the
proposed project, the City of Huntington Beach would reject this alternative as infeasible. The
Treatment Plant (Site 2) Alternative would cost more than five times the Floating Cover to
construct and operate. (Supplement, p. 4-5). The Treatment Plant would cost an estimated
$93,580,000 to construct, versus an estimated $18,230,000 for the Floating Cover.
(Supplement, p. 4-5.)
Since the release of the Supplement to the RDEIR, Metropolitan has revised its estimate
of the projected cost of the Floating Cover. Metropolitan now estimates that the floating cover
will cost approximately $20,900,000. The estimate has been increased to allow for project
design contingencies and cost adjustments in the installation of a chafer lining to account for
reservoir lining surface roughness. Using this revised estimate, the Treatment Plant (Site 2)
Alternative would cost roughly 4.5 times more than the proposed project to construct.
Costs associated with securing a reliable water supply ultimately must be borne by the
City of Huntington Beach customers. As a public agency, the City of Huntington Beach has an
obligation to meet its customer's needs in an economically responsible manner.
These increased costs would have significant implications for the manner in which the
reservoir's owners share the cost of the proposed project. As noted above, the reservoir is
A-17
jointly owned by Metropolitan and a group of local owners. The allocation of capital
improvement costs is governed by an agreement between Metropolitan and the local owners.
Under the terms of this agreement, the local owners have collectively agreed to pay $8,333,400
towards the project through a combination of cash payments and transfers of capacity rights to
Metropolitan; and Metropolitan has agreed to pick up the balance of the project's cost, provided
the total cost of the project does not exceed $17 million, in which case Metropolitan has
reserved the right not to go forward.
If the cost of the project were to exceed $17 million, then Metropolitan would have to:
(1) pick up the difference (i.e., the total cost of the project less $17 million), in addition to its
share ($17 million less $8,333,400) of the first $17 million; (2) negotiate with the other owners
in an effort to convince them to contribute to that portion of the cost that exceeds $17 million;
or (3) abandon the project and simply accept the reservoir's existing poor water quality.
Implementation of the Floating Cover would not require Metropolitan to choose between
the three possibilities outlined above because the Floating Cover meets project objectives largely
within the confines of the existing allocation of costs established by the agreement between
Metropolitan and the local owners. This is because the total cost of the project ($18,230,000)
as described in the Supplement to the RDEIR, and $20,900,000 as subsequently revised) would
exceed only slightly the $17 million cap established by the agreement.
The cost of the Treatment Plant (Site 2) Alternative, by contrast, would greatly exceed
the $17 million allocation "cap" established by the trust agreement. It would thus force
Metropolitan to choose between the three possibilities outlined above. Taking these possibilities
in reverse order, the third possibility is patently unacceptable, in that it would fail to meet the
project's water quality objectives. Whether the second possibility is even available is
speculative. The City of Huntington Beach believes it is unlikely that the other reservoir owners
would approve the level of funding necessary to construct the Treatment Plant (Site 2)
Alternative. Moreover, even if the other owners (including the City of Huntington Beach)
decided to contribute to the excess cost of the Treatment Plant (Site 2), this would merely shift
the ultimate burden to the other owners' rate-payers (including the City of Huntington Beach).
Consequently, the City of Huntington Beach finds the second possibility unacceptable in that it
would address the reservoir's water quality problems in an irresponsible manner, at the expense
of its rate-payers. Metropolitan found the first possibility unacceptable for the same reasons.
(Supplement, pp. 4-5, 4-6.)
Costs associated with the Treatment Plant (Site 2) Alternative are dramatically higher
than costs associated with the Floating Cover, without any corresponding benefit to water
quality. Accordingly, even if the Treatment Plant (Site 2) Alternative were environmentally
preferable to the Floating Cover, the City of Huntington Beach would reject this alternative as
infeasible.
In addition to its substantially increased cost, the Treatment Plant (Site 2) Alternative
would do no better a job of meeting project objectives than the proposed action (Supplement,
p. 4-1); in fact, if Federal standards for TTHM become more stringent, and Metropolitan
implements a system-wide ozonation program at its treatment plants to help reduce TTHM .
levels, due to the reservoir's open-water design, upstream benefits of the ozonation process ;
would be lost at the San Joaquin Reservoir due to the ongoing need to breakpoint chlorinate the
influent. The result of these lost benefits would be increased system inefficiency and cost due .
to the need for the water at the reservoir to be treated twice for TTHM levels: once upstream
of the reservoir at the Diemer Filtration Plant, and again at the San Joaquin Reservoir site-
specific treatment plant. (Supplement, pp. 4-1, 4-2.)
A-18
In sum, the Treatment Plant (Site 2) Alternative would avoid the significant, aesthetic
impact and temporary, potentially significant construction noise impact associated with the
Floating Cover. It would, however, have a significant, unavoidable, adverse environmental
impact with respect to energy consumption, and a potentially significant, unavoidable, adverse
environmental impact with respect to land use compatibility. Thus, the Treatment Plant(Site 2)
Alternative is not environmentally preferable to the proposed project (Floating Cover). Even
if the Treatment Plant (Site 2) Alternative were environmentally preferable to the proposed
project (Floating Cover), the City of Huntington Beach rejects the Treatment Plant (Site 2)
Alternative as infeasible on the ground that the cost of the Treatment Plant (Site 2) Alternative
would be roughly 4.5 times greater than that of the Floating Cover. Yet, the Treatment Plant
(Site 2) Alternative would do no better a job of meeting the project's water-quality objectives
than would the proposed project (Floating Cover).
In the Supplement to the RDEIR, Metropolitan explained the alternatives selection
process by which Metropolitan selected the Floating Cover as its preferred project. (See
Supplement, pp. 3-1 through 3-3.) Further information on this subject is included within the
FEIR in responses to comments 8-11, 10-31, 10-32, 10-34, 10-45, 10-50, 10-51, 10-53, 30-1,
30-2, 30-3, 33-32, 33-40 and 33-71, and in the RDEIR in section 8.0.
In addition to meeting drinking water standards and thus providing a dependable source
of necessary potable water storage, use of a Floating Cover would reduce the requirement for
chlorine use at the San Joaquin Reservoir and reduce the need for use of portable chlorinating
unit. The reduction of chlorine handling and use would reduce the existing potential for a
chlorine leak and would be considered a beneficial impact to public health and safety. (RDEIR,
p. 4-47.)
B. WATER CONSERVATION
In addition to improving water quality, installation of the Floating Cover would reduce
the loss of water through evaporation. Average annual rainfall in the project area is assumed
to be 12 inches. The average annual net loss to evaporation is approximately 48 inches. With
a reservoir surface area of 55 acres, the net effect of the Floating Cover, accounting for lack of
recharge from rain, would be to reduce water losses to evaporation by approximately 165 acre
feet (af) annually ([48 in. 12 in. = 3 ft.] x 55 ac = 165 af). (Supplement, p. 3-4.)
C. INCREASED EMPLOYMENT
The proposed project would provide the project area with needed jobs. Construction of
the Floating Cover may require up to 100 workers for 12 to 18 months for initial construction
and then once every 20 years for replacement. (RDEIR, p. 4-33; Supplement, p. 3-1.)
Metropolitan anticipates that all new hires would be from within the project area.
For the foregoing reasons, the City of Huntington Beach finds that the proposed
project's benefits outweigh, and therefore override, the project's unavoidable, adverse
environmental impacts. The City of Huntington Beach finds that the project's benefits
would outweigh its unavoidable, adverse environmental effects (i.e. aesthetics and,
potentially, temporary construction noise) even if these effects were not lessened by the
mitigation measures incorporated, into the project.
A-19
INDEPENDENT REVIEW AND ANALYSIS
Under CEQA, a responsible agency must consider the EIR prepared by the lead agency
and reach its own conclusions on whether and how to approve the project involved. In reach
these conclusions the responsible agency must consider the environmental effects and proposed
mitigations as shown in the EIR.
The City of Huntington Beach independently reviewed and analyzed the RDEIR and
Supplement and determined that the forgoing findings reflect CHB's independent conclusions on
whether and how to approve the project.
A-20
ATTACHMENT B
STATEMENT OF OVERRIDING CONSIDERATIONS
The proposed project would have a significant, unavoidable,
adverse aesthetic impact, and a temporary, potentially significant,
adverse, unavoidable noise impact during construction.
.Metropolitan has adopted all feasible mitigation measures with
respect to these impacts. Although these mitigation measures will
substantially lessen these impacts, the measures will not fully
avoid the impacts.
Moreover, Metropolitan has examined a reasonable range of
alternatives to the proposed action. Based on this examination,
the City of Huntington Beach has determined that none of these
alternatives satisfies the following three criteria: (1) meets
project objectives; (2) is environmentally preferable to the
proposed project; and (3) is economically feasible. As a result,
to approve the project, the City of Huntington Beach must adopt a
"statement of overriding considerations" pursuant to CEQA
Guidelines sections 15043 and 15093 (see also section 15043) . The
statement explains why, in the agency's judgment, the project's
benefits outweigh its unavoidable significant effects.
The City of Huntington Beach finds that the proposed project
would have the following substantial environmental and economic
benefits:
A. PUBLIC HEALTH AND SAFETY
The San Joaquin Reservoir has had a history of chronic water
quality problems, which are documented in detail in the RDEIR
(RDEIR, § 3 .2 .3 . 3) and the Supplement (Supplement, § 2) . These
problems have occurred primarily because the San Joaquin Reservoir
is an open treated-water reservoir. Despite the implementation of
many operational management modifications, problems associated with
coliform bacteria and TTHMs still occur. When the water quality
problems occur, Metropolitan is forced to shut down the reservoir
until they are resolved, to ensure public health and safety and to
maintain compliance with existing water quality standards.
Covering the reservoir would allow Metropolitan to meet State
and Federal MCLs for total coliforms and TTHMs, and it would
improve the water's aesthetic quality. A cover would prevent
airborne contamination by debris (including bird droppings) and
animals (including African clawed frogs) , which are sources of
coliforms. In addition, a cover would eliminate exposure to
sunlight, which promotes algal blooms and associated plankton and
coliform growth and reduces chloramine residuals (which act as
disinfectants) . Also, because a disinfecting 'chloramine residual
would be maintained, the potential for growth of coliform in the
reservoir would be greatly reduced or eliminated.
The cover would allow Metropolitan to discontinue the practice
of breakpoint chlorination and reduce effluent TTHM levels. The
cover's ability, in conjunction with the use of chloramines, to
reduce TTHM levels is supported by data from other reservoirs
operated by Metropolitan. (Supplement, S 3 . ) TTHM compliance data
for influent and effluent at Metropolitan's uncovered San Joaquin
Reservoir and covered Orange County and Palos Verdes Reservoirs for
1990 through 1992 compiled by Metropolitan and presented in the
Supplement (Supplement, Table 3 . 1) show that the TTHM levels in San
Joaquin Reservoir effluent were nearly double the influent values,
whereas for the covered reservoirs, influent and effluent values
were comparable. Six out of nine samples from the San Joaquin
Reservoir effluent had TTHM levels exceeding 0. 10 mg/1 (the current
MCL for TTHMs) , whereas none of the samples from the covered
reservoirs exceeded this value.
Covering the reservoir would not eliminate the need to provide
some chlorination of reservoir effluent. However, the amount
required at the effluent stage would be five to ten times less than
that currently required for breakpoint chlorination.
EPA may soon propose a regulation that would make the MCL for
TTHMs more stringent than the existing regulation. If EPA adopts
such regulations, Metropolitan may have to change its operations at
the Diemer Filtration Plant to ensure compliance with the revised
standards. In light of potential changes to the TTHM MCL,
Metropolitan is currently exploring the installation of an
ozonation treatment system, supplemented with chloramines, at its
filtration plants. Even if operations at the Diemer Filtration
Plant are changed, however, covering the reservoir would play a
central role in ensuring compliance with the revised standards.
This is because covering the reservoir would eliminate the need to ,
breakpoint chlorinate reservoir influent, thus preserving the
benefits of upstream treatment at the Diemer Filtration Plant.
By eliminating the need to breakpoint chlorinate reservoir
water, the Floating Cover would also improve the reservoir's
operational capability. Improvements would occur because
Metropolitan could blend chloraminated reservoir water with
chloraminated water from other sources in its distribution system
south of the Willits Street PCS. The ability to blend water from
the San Joaquin Reservoir with that from other sources would
increase the flow capacity to downstream users by 30 cfs, which
would enable Metropolitan to meet peak water demands with reservoir
water, rather than relying on local downstream storage.
(Supplement, S 2 . 2 . 1.2 . )
By eliminating contamination by airborne debris, including
dust, dirt, midge fly larvae and bird droppings, as well as frogs,
plankton and algae, the reservoir would no longer have to be
periodically removed from service for cleaning, and the aesthetics
of drinking water supplied by the reservoir would be enhanced.
Covering the reservoir would curtail the current frequent,
unpredictable shutdowns of the reservoir for public health reasons.
When the reservoir is shut down for cleaning, to avoid exceeding
MCLs or for aesthetic reasons, the water is not available for use
during periods of peak demand, nor for emergencies. Metropolitan's
goal for the reservoir is to provide as large and as reliable a
supply of potable water close to the user as possible. Under
existing conditions, the current supply is not reliable and not
always potable. Installation of a Floating Cover would enable
Metropolitan to substantially improve the reliability and
potability of its supply of regulatory and emergency storage.
Installation of the Floating Cover would reduce downtime at
the reservoir. Under existing conditions, the reservoir is
shutdown anywhere from 20 to 25 percent of the time. Even with
implementation of all planned improvements to the system, downtime
may increase due to increasingly stringent water quality standards.
After installation of a Floating Cover, project downtime would
decrease to an estimated four to six percent of the time. This
number was calculated by assuming the reservoir would be out of
service for 12 to 18 months for initial construction of the cover
and then once every 20 years for nine to 14 months for a 50-year
project life. Even with closure of the reservoir for the cover's
construction and replacement period, overall downtime would
decrease by about 75 percent.
Not only would covering the reservoir substantially reduce the
amount of downtime, but the fact that this downtime would be
predictable and contiguous would allow Metropolitan to more easily
plan around it. Currently, Metropolitan cannot predict when, and
for how long, the reservoir will have to be out of service. The
effect of this unpredictability is that, when the reservoir is
taken out of service, agencies in the service area which rely on
the reservoir for peaking demand and emergency use must scramble to
find other sources of water on short notice. Although alternate
sources are usually available, they are generally more expensive
(primarily due to increased pumping costs and the higher cost of
wheeling water through other local agencies) . Long-term, repeated
reliance on alternate sources such as groundwater also has the
potential to cause adverse environmental effects, including over-
drafting of local groundwater basins.
Thus, installing a Floating Cover on the reservoir would allow
Metropolitan to ensure consistent compliance with State and Federal
MCLs for total coliforms and TTHMs and to improve the water's
aesthetic quality. It would serve this objective by preventing
organic material and other airborne contaminants from entering the
reservoir and by eliminating exposure to sunlight, both of which
contribute to algae and plankton blooms and to elevated
bacteriological activity. It would also obviate the need to
breakpoint chlorinate reservoir influent and thus would reduce the
formation of TTHMs. The Floating Cover would also improve the
reservoir's operational characteristics (flexibility) by enabling
Metropolitan to blend reservoir water with water from other
sources.
In short, the proposed project (Floating Cover) meets the
project objectives. It would improve the water quality of the
reservoir; improve the operational aspects of providing treated
water to its service area; and provide a reliable source of
regulatory and emergency storage of potable water for its service
area. (Supplement, § 3 .3. )
In addition to meeting drinking water standards and thus
providing a dependable source of necessary potable water storage,
use of a Floating Cover would reduce the requirement for chlorine
use at the San Joaquin Reservoir and reduce the need for use of
portable chlorinating unit. The reduction of chlorine handling and
use would reduce the existing potential for a chlorine leak and
would be considered a beneficial impact to public health and
safety. (RDEIR, p. 4-47 . )
B. WATER CONSERVATION
In addition to improving water quality, installation of the
Floating Cover would reduce the loss of water through evaporation.
Average annual rainfall in the project area is assumed to be 12
inches. The average annual net loss to evaporation is
approximately 48 inches. With a reservoir surface area of 55
acres, the net effect of the Floating Cover, accounting for lack of
recharge from rain, would be to reduce water losses to evaporation
by approximately 165 acre feet (af) annually ( (48 in. - 12 in. = 3
ft. ] x 55 ac = 165 af) . (Supplement, p. 3-4. )
C. INCREASED EMPLOYMENT
The proposed project would provide the project area with
needed jobs. Construction of the Floating Cover may require up to
100 workers for 12 to 18 months for initial construction and then
once every 20 years for replacement. (RDEIR, p. 4-33; Supplement,
p. 3-1. ) Metropolitan anticipates that all new hires would be from
within the project area.
For the foregoing reasons, the City of Huntington Beach finds
that the proposed project's benefits outweigh, and therefore
override, the project's unavoidable, adverse environmental impacts. '
Moreover, the City of Huntington Beach finds that the project's
benefits would outweigh its unavoidable, adverse environmental
effects (i.e. aesthetics and, potentially, temporary construction
noise) even if these effects were not lessened by the mitigation
measures incorporated into the project.
XI.
INDEPENDENT REVIEW AND ANALYSIS
Under CEQA, the lead agency must (1) independently review and
analyze the EIR, (2) circulate draft documents that reflect its
independent judgment; and (3) as part of the certification of an
EIR, find that the report or declaration reflects the independent
i
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judgment of the lead agency. (Pub. Resources Code, § 21082 . 1,
subd. (c) . )
Metropolitan independently reviewed and analy1zed the RDEIR and
Supplement and determined that the RDEIR and Supplement reflect its
independent judgment. Moreover, upon completing; this review and
making this determination, Metropolitan circulated the RDEIR and
Supplement, as described above. With the adoption of these
findings, Metropolitan finds that the RDEIR and Supplement, as
revised by the FEIR, reflect its independent judgment.
Dated: , 1993 .
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ATTACHMENT C
SAN JOAQUIN RESERVOIR IMPROVEMENT PROJECT
MITIGATION MONITORING PROGRAM
The City of Huntington Beach did not adopt mitigation measures
for the San Joaquin Reservoir Improvement Project. The Mitigation
Monitoring program has been adopted by the Metropolitan Water
District of Southern California and is attached for information
only.
1.0 INTRODUCTION
The California Environmental Quality Act (CEQA, Public
Resources Code Section 21000 et seq. ) requires all state and local
agencies to establish reporting or monitoring programs for projects
approved by a public agency whenever approval involves the adoption
of specified findings related to environmental impact reports.
The mitigation monitoring program (MMP) contained herein is
intended to satisfy the requirements of CEQA as they relate to the
final Environmental Impact Report (EIR) for the San Joaquin
Reservoir Improvement Project, prepared for the Metropolitan Water
District of Southern California. This monitoring program is
intended to be used by Metropolitan staff responsible for ensuring
compliance with mitigation measures prior to and during
construction of the San Joaquin Reservoir Improvement Project.
The EIR for the San Joaquin Reservoir Improvement project
identified a number of mitigation measures designed to reduce the
adverse effects of the project in the areas of earth resources,
water resources, aesthetics, traffic and noise, which are listed in
this document. The intent of the MMP is to ensure the effective
implementation and enforcement of adopted mitigation measures.
The MMP provides for regular monitoring of preconstruction and
construction activities, in-the-field identification and resolution
of environmental concerns, and reporting of compliance. During
project implementation, Metropolitan's Manager of Environmental
Affairs (MEA) , Director of Environmental Compliance (DEC) , and
Engineering Division will be responsible for the implementation of
the MMP. The results of the MMP will be available for public
review at Metropolitan's offices.
The MEA, DEC and Engineering Division will be responsible for
the following activities:
reviewing project design specifications and/or construction plans and
equipment staging/access plans to ensure compliance with adopted
mitigation measures;
on-site, periodic monitoring of construction activities, as necessary;
ensuring contractor knowledge of and compliance with all appropriate
mitigation measures and the MMP;
evaluating the adequacy of construction impact mitigation and proposing
improvements to the contractors and Metropolitan, if necessary;
having authority to require correction of activities observed to violate
project mitigation measures, including the authority to secure compliance
with the measures through Metropolitan's Board of Directors, if necessary;
acting in the role of contact for property owners or other affected
persons who wish to register observation of violation of mitigation
measures. Upon receiving any complaints, the responsible person shall
immediately contact the project construction representative and record the
contact in the MMP, and shall be responsible for verifying any such
observations and for developing any necessary corrective actions in
consultation with the project construction representative and
Metropolitan;
maintaining prompt and regular communication with appropriate departments
within Metropolitan and with project personnel responsible for contractor
performance and mitigation measure compliance, as well as any affected
public agencies;
obtaining assistance as necessary from technical experts such as
geologists and landscape architects in order to fulfill mitigation
measures adopted by Metropolitan. For example, it will be necessary for
a landscape architect to work with the MEA, Engineering Division,
surrounding residents and construction contractor to develop an effective
landscape screening plan; and
maintaining a log of all significant interactions, violations of
mitigation measures and necessary corrective actions, as well as recording
final compliance with each mitigation measure.
In the event that resolution of disputes between the public
and/or governmental agencies and Metropolitan project staff
regarding adherence to mitigation measures is not resolved by these
parties, the dispute shall be referred to Metropolitan's General
Manager for resolution.
C-2
2.0 MITIGATION MEASURES AND COMPLIANCE STATUS
The following sections contain mitigation measure information
and compliance forms, which are required to be completed by
Metropolitan staff concurrent with implementation of relevant
phases of project planning and construction.
2.1 EARTH RESOURCES
2 . 1. 1 Mitigation Measure.
The EIR for the Improvement Project identified a potential
significant environmental impact from intensive ground-shaking from
seismic activity during construction and operation. Implementation
of the following mitigation measure will reduce the impact to below
a level of significance:
A registered engineering geologist or similar
professional shall be used during design and construction
of the project.
2.1.2 Compliance Status.
Contact Person: Chief Engineer, Engineering Division
Mitigation requirement checked by
(Name)
of on
(Department) (Date)
C o m m e n t s
Date Mitigation Measure Compliance Completed:
1.1 WATER RESOURCES
2.2.1 Mitigation Measures.
The EIR for the Improvement Project identified potential
significant environmental impacts to surface water quality from
storm water runoff from impervious surfaces during operations, and
from dewatering activities during construction. Implementation of
the following mitigation measures will reduce these impacts to
below a level of significance:
C-3
Metropolitan shall notify the Regional Board prior to
construction and/or associated dewatering activities. If
required by the Regional Board, Metropolitan shall obtain an
NPDES permit. Metropolitan (or its contractor) shall comply
with the terms of the NPDES permit, particularly any terms
that may require settling of suspended particulates prior to
discharge.
The floating cover shall be designed so that peak stormwater
runoff can be stored on top of the cover. Any accumulated
stormwater runoff shall be dewatered at a rate that does not
increase historical peak runoff flow for the reservoir
watershed.
2.2.2. Compliance Status.
Contact Person: Director, Environmental Compliance
Mitigation requirement checked by
(Name)
of on
(Department) (Date)
Comments:
Date Mitigation Measure Compliance Completed:
2.3 AESTHETICS
2.3.1 Mitigation Measure.
The EIR for the Improvement Project identified a significant
unavoidable environmental impact resulting from the visual change
in covering the reservoir. Although it is not possible to reduce
this impact below a level of significance, implementation of the
following mitigation measure will help reduce the effects of this
impact:
Metropolitan shall make available up to $375, 000 to
develop and implement a landscape screening planting plan
to lessen, to the extent feasible, aesthetic impacts from
homes within the Harbor Ridge subdivision that view the
reservoir, in accordance with the potential aesthetic
mitigation concept set forth in the Supplement. The
landscaping plan shall be developed by a landscape
architect in consultation with affected residents and or
homeowners within the Harbor Ridge subdivision.
C-4
The landscaping plan shall focus on land to
which Metropolitan has, or can arrange to have,
physical access. To the extent the plan calls for
plantings on land to which Metropolitan does not
have, and cannot arrange to have, physical access,
that portion-of the landscaping plan shall be
regarded as infeasible, and the funds to be made
available by Metropolitan to Iimplement the
landscaping plan shall be reduced by a
proportionate amount.
Alternatively, to the extent the landscaping
plan calls for. plantings on land controlled by
residences and/or homeowners within the Harbor
Ridge subdivision, Metropolitan shall place funds
in a trust account for the benefit of affected
homes in the Harbor Ridge subdivision. The amount
deposited in the trust fund shall be a percentage
of the overall cost of implementing the landscaping
plan, with the percentage determined by dividing
the cost of making the called-for plantings on land
controlled by residences and/or homeowners within .
the Harbor Ridge subdivision by the cost of
implementing the landscaping plan as a whole. The
expenditure of the funds deposited in the trust
account shall be left to the sole discretion of
affected residents and/or homeowners in the Harbor
Ridge subdivision, provided, however, that the
trust account shall restrict the use of such funds
solely to mitigating the project's aesthetic
impacts on such homes.
2.3.2 Compliance Status.
Contact Person: Manager, Environmental Affairs
Mitigation requirement checked by
(Name)
of on
(Department) (Date)
Comments:
Date Mitigation Measure Compliance Completed:
C-5
2.4 TRAFFIC
2.4.1 Mitigation Measure.
The EIR for the Improvement Project identified a potential
significant environmental impact resulting from construction
workers and truck traffic, causing peak hour congestion at the
intersection of Ford Road and MacArthur Boulevard. The EIR also
identified a potential significant environmental impact on a
cumulative basis resulting from construction workers and truck
traffic, when viewed in conjunction with other projects in the
area. Implementation of the following mitigation measure will
reduce the impact to below a level of significance:
If more than 80 construction workers are used at the site
at any one time, construction work hours shall be
staggered and/or construction workers shall be shuttled
to the site from an off-site area.
During construction, Metropolitan (or its contractor)
shall coordinate with City of Irvine and Orange County
transportation officials and planners to coordinate
construction-related traffic between simultaneous
projects, and to identify in advance any road closures
that may affect the project so that alternate routes may
be developed.
2.4.2 Compliance Status.
Contact Person: Manager, Environmental Affairs
Mitigation requirement checked by
(Name)
of on
(Department) (Date)
Comments:
Date Mitigation Measure Compliance Completed:
C-6
2.5 NOISE
2 .5. 1 Mitigation Measure.
The EIR for the Improvement Project identified a potential
significant short-term environmental impact resulting from
construction noise generated by use of a backhoe in the vicinity of
residences adjacent to the reservoir. Implementation of the
following mitigation measures will help reduce the impact during
construction:
Hours of construction shall be limited to between
7 : 00 a.m. and 7 : 00 p.m. Monday through Saturday, with no
construction on Sundays or holidays.
Construction equipment shall use properly operating
mufflers and engine shrouds.
Equipment shall be stored and maintained away from
sensitive receptors, such as residences.
2.5.2 Compliance Status.
Contact Person: Manager, Environmental Affairs
Mitigation requirement checked by
(Name)
of on
(Department) (Date)
Comments:
JRR:bb
C-7