HomeMy WebLinkAbout7.1 Dougherty Rd Improvementsor
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/ii � 111
DATE:
TO:
FROM:
STAFF REPORT
CITY COUNCIL
February 19, 2013
Honorable Mayor and City Councilmembers
Joni Pattillo City Manager""'
CITY CLERK
File #
SUBJECT: Adopt Mitigated Negative Declaration and Approve Preliminary Engineering Plans
for the Dougherty Road Improvements Project
Prepared by Ferd Del Rosario, Senior Civil Engineer
EXECUTIVE SUMMARY:
The City Council will consider adoption of Mitigated Negative Declaration and approval of
preliminary engineering plans for the Dougherty Road Improvements project from Sierra Lane to
North City Limit (the Project). City consultants have completed the preliminary engineering
plans and prepared the Project Draft Mitigated Negative Declaration which was noticed and
circulated for a 30 -day public review period, from November 5, 2012 to December 5, 2012.
Adoption of the Mitigated Negative Declaration and approval of the preliminary engineering
plans would allow the Project to move forward to subsequent stages; right -of -way engineering,
appraisal for necessary property acquisition and environmental permitting.
FINANCIAL IMPACT:
There is no financial impact associated with the adoption of the Project Mitigated Negative
Declaration and approval of the preliminary engineering plans.
RECOMMENDATION:
Staff recommends that the City Council Adopt the Resolution that both Adopts the Mitigated
Negative Declaration and Approves Preliminary Engineering Plans for the Dougherty Road
Improvements Project.
ubmitte` By
Public Works Director
DESCRIPTION:
Proiect Background
� '\ Reviewed By
Economic Development Director/
Public Information Officer
The City has long planned for improvements to Dougherty Road. The Circulation Element of the
City's General Plan (adopted in 1985) called for the expansion of Dougherty Road to a six -lane
Page 1 of 4 ITEM NO. 7.1
arterial. Subsequent updates to the Circulation Element called for the addition of on- street
( "Class II ") bicycle lanes to the entire length of Dougherty Road.
Since adopting the Circulation Element, the City has enforced a dedication requirement from
property owners along Dougherty Road to provide the necessary area for the anticipated future
roadway width. As development has occurred along the Dougherty Road corridor, the City has
required new buildings and parking areas to be sufficiently set back from the existing roadway to
allow for the planned widening.
Previously, the City improved the southern portion of the roadway (south of Sierra Lane) to a
divided multiple -lane facility. However, the portion of Dougherty Road between Sierra Lane and
the City limits to the north has generally remained four lanes with no median or on- street bicycle
lanes provided.
In its most recently adopted Capital Improvement Program, the City has included funding for
preliminary engineering and environmental review for the Dougherty Road Improvements
Project. The City hired Kimley -Horn & Associates to prepare preliminary engineering plans and
conduct the appropriate level of environmental review. Council's consideration of the resulting
environmental review and preliminary engineering plans are the subject of this Council item.
Proposed Project
Consistent with the Circulation Element, the Dougherty Road Improvements Project will improve
pedestrian and bicycle facilities along a 1.9 -mile long section of Dougherty Road, from Sierra
Lane north to the City limit line. Roadway and median conforms will extend approximately 800 -
feet north into the City of San Ramon.
The preliminary engineering plans widen the roadway from a four -lane facility to a six -lane
divided roadway, with a raised landscaped median that will also serve as a stormwater
collection and retention facility. The project will add left -turn pockets at several intersections.
Project improvements also include adding Class II bicycle lanes on both north and south -bound
sides of the road, transit stops at several key locations, and reconstructing or resurfacing the
existing 8' -wide bicycle /pedestrian path on the east side of the roadway. These improvements
will require the removal of about six on- street parking spaces between Sierra Lane and Houston
Place. These spaces are located along the eastern (northbound) side of Dougherty Road,
within the existing public right -of -way.
The project will require the acquisition of approximately 9,865 square feet of right -of -way in front
of a single commercial property located at 6305 Dougherty Road to accommodate the roadway
widening project. Approval of the preliminary engineering plans and adoption of the Mitigated
Negative Declaration would allow the project to move forward to subsequent stages; right -of-
way engineering, appraisal for necessary property acquisition, and environmental permitting.
Staff anticipates that some minor refinements to these preliminary plans may be necessary as
construction -level plans are prepared in a subsequent project phase.
Public Outreach
On October 12, 2012, Staff convened an informational meeting targeted to the businesses and
property owners in the southern reach of Dougherty Road — between Sierra Lane and Scarlett
Court. Staff sent out approximately 90 written invitations to the meeting and followed up by
telephone with some who could not attend but wanted to learn more about the project. As part
of this outreach, Staff heard comments and questions regarding the property acquisition
process, loss of parking both on and off - street, and traffic movement through the area. Staff
received only one written comment at this meeting. The comment called for the City to
complete a business impact report in addition to the environmental review of the project.
Page 2 of 4
At the meeting, Staff responded to queries about property acquisition and traffic movement and
further advised that questions about parking loss would be addressed in the environmental
document. Staff also advised participants to look out for the environmental document and staff
explained how to submit comments on that document.
With regard to the request from a participant to study business impacts, there is no regulation at
the local or state level that requires such effort and that project circumstances do not warrant
any heightened level of analysis. The City had first adopted the plan to expand Dougherty Road
more than two decades ago in the Circulation Element. Since that time, Staff has consistently
advised potentially affected property owners of the pending expansion. For example, a 1989
Staff approval of a sign on the property located at 6305 Dougherty Road included a note that the
sign was in the future expansion area for Dougherty Road and was likely to be acquired. Newer
developments along Dougherty Road were approved when set back a sufficient distance so as
to allow for the future widening of Dougherty Road without affecting buildings, structures, signs,
or other similar physical improvements.
Given the lack of any statutory imperative, the small number of properties potentially affected by
the need for property acquisition, the minimal reduction in the loss of available parking in the
area, and more than two decades having passed since the City first stated its intent to widen
Dougherty Road, Staff does not see any justification or need to complete a business impact
report.
Environmental Review — Mitigated Negative Declaration
Although the City's Circulation Element included a conceptual plan to expand Dougherty Road
to six lanes in this area, Staff prepared an Initial Study pursuant to CEQA to examine whether
the project could result in a significant environmental impact. The Initial Study, which relied
upon and incorporated several focused studies (air quality, biological resources, cultural
resources, traffic, noise, and others) found that with the application of standard mitigation
measures, no significant environmental effects would occur. Accordingly, Staff has prepared a
mitigated negative declaration for the Project.
Staff noticed and circulated the Initial Study and proposed Mitigated Negative Declaration for a
30 -day public review period which occurred from November 5, 2012 to December 5, 2012. In
noticing the document, Staff exceeded the noticing requirements set forth in CEQA Guidelines
Section 15072. Specifically, Staff mailed or hand - delivered more than 900 notices of the
availability of the initial study and proposed Mitigated Negative Declaration to property owners
along the project area corridor. Staff also published a notice in the Tri- Valley Times on
November 8, 2012. Both notices invited interested members of the community to comment on
the proposed mitigated negative declaration and also advised the public of an "open house"
community meeting the City convened on November 14, 2012 at the Dublin Library. This is in
addition to the informational meeting held in October 2012 for business and property owners
along the southern reach of Dougherty Road (Sierra Lane to Scarlett Court).
During the public comment period, Staff received a total of four written comments on the
environmental document. None of the comments identified any new or substantially more
adverse environmental effects than had been noted in the environmental document. Although
not required by CEQA, Staff prepared responses to the written comments. Staff also made
minor revisions to the Initial Study and Mitigated Negative Declaration, including some of the
mitigation measures, in accordance with the commenters' suggestions. In particular, some of
the biology mitigations were revised to clarify permitting and timing provisions, and to provide
additional detail updating referenced California Department of Fish and Wildlife mitigation
protocols. Staff carefully reviewed the comments and responses and determined that no
recirculation is required under CEQA Guidelines section 15073.5, and that the modifications to
Page 3 of 4
the mitigations are not substituted mitigations for the purposes of CEQA Guidelines section
15074.1.
Recommendation
Staff recommends that the City Council Adopt the Resolution that both Adopts the Mitigated
Negative Declaration and Approves Preliminary Engineering Plans for the Dougherty Road
Improvements Project.
NOTICING REQUIREMENTS /PUBLIC OUTREACH:
As mentioned above, more than 900 notices were mailed and /or hand delivered to businesses,
property owners and apartment tenants inviting them to two public meetings conducted in
October and November 2012, and a similar notice was also published in the Tri- Valley Times on
November 8, 2012 for the November Open House and for the Mitigated Negative Declaration
public comment period. In addition, the City Council Agenda was mailed to those who provided
written comments notifying them of the scheduled Council meeting.
ATTACHMENTS: 1. Resolution Adopting the Mitigated Negative Declaration and
Approving Preliminary Engineering Plans for the Dougherty Road
Improvements Project
2. Project Location Map
3. Proposed Mitigated Negative Declaration
4. Mitigation Monitoring and Reporting Program
5. Proposed Mitigated Negative Declaration Appendices
Page 4 of 4
RESOLUTION NO. - 13
A RESOLUTION OF THE CITY COUNCIL
OF THE CITY OF DUBLIN
ADOPTING THE MITIGATED NEGATIVE DECLARATION AND APPROVING PRELIMINARY
ENGINEERING PLANS FOR THE DOUGHERTY ROAD IMPROVEMENTS PROJECT
WHEREAS, the Circulation Element of the City of Dublin's General Plan has for more
than two decades called for the expansion of Dougherty Road to a six -lane arterial; and
WHEREAS, the City of Dublin's Bikeways Master Plan calls for the addition of on- street
(Class 11) bike lanes on Dougherty Road from the Contra Costa County line south to Dublin
Boulevard; and
WHEREAS, through previously approved Capital Improvements Program, the City has
designated funding for preliminary engineering and environmental review of plans to expand
Dougherty Road consistent with the Circulation Element,
WHEREAS, preliminary engineering of Dougherty Road improvements consistent with
the above plans has proceeded for the section of Dougherty Road between Sierra Lane and the
north City limit, including proposed roadway, median, and bicycle /pedestrian path
improvements; and
WHEREAS, consistent with all requirements of the California Environmental Quality Act,
the City prepared and circulated an environmental Initial Study and Proposed Mitigated
Negative Declaration on the Dougherty Road Improvements Project for a 30 day public review
period; and
WHEREAS, during the public review period, the City received four written comments on
the project and the environmental review, none of which identify any new or significantly
worsened environmental impacts beyond those already identified; and
WHEREAS, although not required by CEQA, the City prepared written responses to the
comments, which comments and responses are included in a Proposed Mitigated Negative
Declaration (MND) dated February, 2013 and incorporated herein by reference. The MND
includes a revised Initial Study reflecting the comments and responses and including minor
technical revisions; and
WHEREAS, in accordance with the comments and responses, the revised Initial Study
also includes modifications to certain biology mitigation measures, These modifications refine
and clarify permitting and timing provisions of the measures and provide additional detail to
update the measures for current CDFW protocols. Mitigation Measure 1310 -5 in the revised
Initial Study replaces the prior measure but does not constitute a "substitute" measure for the
purposes of CEQA Guidelines section 15074.1 because the revised measure contains the
basic elements of the original measure, and adds detail consistent with current CDFW
standards; and
WHEREAS, all mitigation measures have been compiled in a Mitigation Monitoring and
Reporting Program dated January 2013 and incorporated herein by reference; and
WHEREAS, the City determined that the comments and responses did not constitute or
require substantial revisions to the MND, and no recirculation was required pursuant to CEQA
Guidelines section 15073.5; and
WHEREAS, the Revised Initial Study, the comments received during the public review
period, the City's responses to the comments as compiled in the Proposed Mitigated Negative
Declaration dated February 2013, together with the Mitigation Monitoring and Reporting
Program dated January 2013 collectively comprise the Mitigated Negative Declaration for the
Project; and
WHEREAS, the preliminary engineering plans were developed in a manner consistent
with the City's Circulation Element, Capital Improvement Program and Bikeways Master Plan.
WHEREAS, the City Council has reviewed a Staff Report and the Mitigated Negative
Declaration at their meeting on February 19, 2013 prior to taking action on the project; and
WHEREAS, the location and custodian of the Mitigated Negative Declaration and other
documents that constitute the record of proceedings for the project is the Public Works
Department, 100 Civic Plaza, Dublin, CA, 94568 Attn: Ferd Del Rosario.
NOW, THEREFORE, BE IT RESOLVED that the City Council finds that on the basis of
the whole record before it (including the Revised Initial Study, comments and responses) that
there is no substantial evidence that the project as mitigated will have a significant effect on the
environment and that the Mitigated Negative Declaration reflects the City's independent
judgment and analysis.
BE IT FURTHER RESOLVED that after reviewing and considering the Mitigated
Negative Declaration and the preliminary engineering plans, the City Council of the City of
Dublin does hereby adopt the Mitigated Negative Declaration (including the Mitigation
Monitoring and Reporting Program) for the Dougherty Road Improvements Project and
approves the preliminary engineering plans.
PASSED, APPROVED AND ADOPTED this 19th day of February, 2013, by the following
vote:
AYES-
NOES-
ABSENT-
ABSTAIN-
ATTEST-
City Clerk
2047543.1
Mayor
Dougherty Road Improvements Project
Legend
aProject Location
Source: Kimley -Horn and Associates, 2012.
0 2 4
MILES
Scale: 1:200,000
Project Location
PROPOSED MITIGATED NEGATIVE DECLARATION
Dougherty Road Improvements
Prepared for
r,
City of Dublin
February 2013
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Table of Contents
Introduction................................................................................................ ............................... iii
SECTION 1— Individual Comment Letters and Responses ............................... ...............................
iv
SECTION 2 — Revised Initial Study ................................................................... ..............................1
ProjectDescription ........................................................................................ ..............................1
Environmental Factors Potentially Affected .................................................... ..............................4
Determination.............................................................................................. ...............................
6
Environmental Impact Checklist ..................................................................... ..............................7
I. Aesthetics .................................................................................................. ..............................7
II. Agriculture and Forest Resources ............................................................... ..............................9
III. Air Quality .............................................................................................. .............................13
IV. Biological Resources ................................................................................ .............................23
V. Cultural Resources ................................................................................... .............................39
VI. Geology and Soils .................................................................................... .............................45
VIII. Hazards and Hazardous Materials .......................................................... .............................53
IX. Hydrology and Water Quality .................................................................. .............................56
X. Land Use and Planning ............................................................................. .............................63
XI. Mineral Resources ................................................................................... .............................67
XII. Noise ................................................................................................... ...............................
69
XIII. Population and Housing ......................................................................... .............................74
XIV. Public Services .................................................................................... ...............................
77
XV. Recreation ........................................................................................... ...............................
79
XVI. Transportation and Traffic ..................................................................... .............................81
XVII. Utilities and Service Systems ................................................................ .............................89
XVIII. Mandatory Findings of Significance ...................................................... .............................93
S (':iY
Tables
Table 1. Construction Period Emissions ............................................................................ .............................17
Table 2. Daily Air Pollutant Emission Changes from Operation of the Project (pounds /day) ...............18
Table 3. Annual Air Pollutant Emission Changes from Operation of the Project (tons /year) ...............19
Table 4. Annual Project GHG Emissions ........................................................................... .............................50
Table 5. Long Term Noise Measurement Results ............................................................ .............................70
Table 6. Short Term Noise Measurement Results .......................................................... .............................71
Table 7. Summary of Intersection Level of Service Calculations ................................... .............................85
Figures
Figure 1. Project Location
Figure 2. Project Study Area
Figure 3. City of Dublin Zoning Map
Figure 4. City of Dublin General Plan Land Use Map
Figure 5. Typical Schematic Cross Sections: Dougherty Road from Sierra Lane to Scarlett Drive
Figure 6. Typical Schematic Cross - Sections: Dougherty Road from Scarlett Drive to Amador Valley Boulevard
Figure 7. Typical Schematic Cross Sections: Dougherty Road from Amador Valley Boulevard to North City Limits
Figure 8. Typical Median Landscape Plan
Figure 9. Median Concept: Sections
Figure 10. Project Vicinity and Noise Measurement /Modeling Locations
Appendices
Appendix A
Plan and Profile Drawings
Appendix B
Air Quality and Greenhouse Gas Emission Assessment
Appendix C
Biological Study
Appendix D
Cultural Resources Evaluation
Appendix E
Geologic Evaluation Report
Appendix F
Initial Site Assessment
Appendix G
Water Quality Report
Appendix H
Location Hydraulic Study
Appendix I
Noise Assessment
Appendix J
Traffic Impact Study
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INTRODUCTION
The City of Dublin released an Initial Study and proposed Mitigated Negative Declaration on
November 5, 2012, which analyzed potential impacts of the proposed Dougherty Road
Improvements Project (the project). The release of the document initiated a public comment period,
which ran from November 5, 2012 through December 5, 2012. In publishing the document, the City
exceeded the noticing requirements set forth in CEQA Guidelines Section 15072. Specifically, the
City mailed or hand - delivered notice of the proposed mitigated negative declaration to property
owners along the project area corridor. The City also published a similar notice in the Tri- Valley
Herald on November 8, 2012. Both notices invited interested members of the community to
comment on the proposed mitigated negative declaration and also advised the public of an "open
house" community meeting the City convened on November 14, 2012.
During the public comment period, the City received 3 written comments regarding the
environmental review of the project.
This updated document includes the following sections:
Section 1 (page v) A copy of each written comment received, and individual responses to each
substantive issue raised.
Section 2 (page 1) A revised initial study, including edits and corrections made in response to
comments received on the draft initial study. In the revised initial study,
any added text is shown is presented in bold underlined italic text. Deleted
text is shown in #r 4
COMMENTS RECEIVED IN RESPONSE TO THE INITIAL STUDY /PROPOSED MITIGATED NEGATIVE
DECLARATION
Letter 1: California Department of Fish and Wildlife, Bay Delta Region
Letter 2: California Department of Transportation, District 4
Letter 3: Dan Rodrigues
Letter 4: State of California Governor's Office of Planning and Research, State Clearinghouse and
Planning Unit
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�nitia� Study
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iv
Duughe�yRuad�mpruvements
SECTION 1 - INDIVIDUAL COMMENT LETTERS AND RESPONSES
December 4, 2012
Mr. Ferd Del Rosario,
City of Dublin
100 Cfivi Ipl aza
Dublin, CA 94568
C Mr. Del Rosario.
Subject: Dougherty Road improvements, Initial StUdy/Mitigated Negative Declaration,
SCH #20121120,19, City of Dublin, Alameda County
("al- -ortria'S 'Wihffij-i� 'inc e 1870
Mr. Ferd Del Rosario
Decernber 4, 2012
Page 2
Mitigation, approved by DFG, shOLfld be of sufficient qUafity and qUantity to offset the
ifflpacts, For examp�e, SL)itaNe [-iabitat COWd be peni'mnenfly conserved through the L1-1 cont.
purchase of fee title or conservation easement, irnplea entaflon of DFG-approved
managernent plans, aind sufficient in-perpetUity fi,inding for rnanagement, as determined by
DF'G-appiroved Property Analysis Records,.
"The indirect effects of the road expansion hav(-**^ not Ibeearn addressed. Habitat fragrYlEmtation
is cfted as an prirnary reason for decline in an rIUmber of species of cc irncern which are known
to occur in the project area. Mortality frorn vehicle strikes may' increase as an resuft of arore
and faster traffic. Sedous consideration smood also be given to the curb arid gutter
installation. 'These design featUres are particularly detrirnental to CaNfornia tiger
salarnanders which become trapped on the road or are washed down storn"i dra4is. 'The
City ShOLAId design the road to rninirnize the impacts to the dispersal of speciai-status
species and ShOWd require acqUISition of property which contributes to preservation of
corridors for known populations of the species that WH be impacted by the proJect.
'The MND incorrectly references the Burr wire Owl Protocol Survey and Mitigation
Guidelines as ar DFG docurnent, T'he DFG Staff Report on Burrow� n g Owl Mitigation,
March 7, 2012 replaces the 1995 DFG Staff [� eport on BUrroWng Owl Mitigation, -niis
revised Staff Report to into account the California Burrowing Owl ConsortiLHTI'S SUrvey
Protoco and Mitigation GUidefties (CBOC 1993, 1997) arid SUpersedes the SUrvey,
avoidance, rninlry0zation and rnifigation recornffiendations in the '1995 Staff Repo ft.
'"ll"he buirrowing owl has been iderrtffied as a State Species of Special Concern becaUyea of
declines Of SUitable h,-,.iNtat and both localized and statewide population decfines,.
GLJidefirnes for the irnplementation of CE QA provide that the species be considered
endangered or "rare" for the purposes of C A (Guide lime s, Section 15380). CE(DA
requires an rimndatory finding of significance if irnpacts to irare, threatened, or endangered
species are HkOy to occur. T'o be legaHy adequate, rnifigation rneasures PlUst be capable of
'lavoiding the irnpact altog(ather by not taking certain action or parts of an action,"
I'minimiAng irripacts by firnifing the degree of rnagrritude of the action or its
"rectifying the irnpact by repairirq, rehabilitating or restoring the impacted eirivironment,"
"redw-Ang or elirninating the irripact over tirne by preservation arid maintenance operations
dUring the life of the acdon," or "corriipensating for the ii,yipacts by replacing or providing
substitute reSOUrces." K bUrrowing oWs are obSEnrved during surveys, or have been
documEmted breedi'ng on the site within the last three years, the extent of burrowing owi
habitat on the sfte should be (JeHneated by a qUaHfied ornithologist, A 1,1 replacement ratio
is recoarmerided to off-set per"marient irnpactsto burr wimp owl habitat. Land identified to
off-set irripacts to burrowing owls shOWd be protected in PEnrpetuity either, by an conservation
easernent or fee fifle acquisition. Burrowlng owl rnifigcition lands shoWd be idendfied in the
vicinity of the project site,
If it is determined that burrowing owlls occur at the project site, a burrowing oW habitat
a,flfigation plan should be prepcired airid be subJect to review and approval of DFG. An
agreement that WH bind the applicant to the conditions should be reqUired. No evictions or
L1-2
L1-3
L1-4
Mr. Ferd Del Rosario
December 4, 2012
Page 3
destruction of habitat should be allowed until the mitigation plan has been finalized and a
binding agreement executed.
Mitigation to avoid "take" of burrowing owls and their nests is fulfilled by conducting pre-
construction surveys for the species no more than 30 days prior to construction. Sites
found to have burrowing owls present during the pre-construction survey will have a
biological monitor present during site disturbance. Pre-construction survey results should
be submitted to DFG for review and approval.
We are further available to discuss Our concerns, if requested. If you have any questions,
please call Ms. Marcia Grefsrud, Environmental Scientist, at (707) 644-2812; or
Mr. Craig Weightman, Acting Environmental Program Manager, at (707) 944-557T
cc: State Clearinghouse
L14 cont.
Comment Letter 1: California Department of Fish and Wildlife (CDFW)1
1.1 The commenter notes that construction activities will occur within area designated as
suitable habitat for the California tiger salamander (Ambystoma coliforniense or CTS), a
federal and state - listed threatened species, and that additional mitigation is needed to
mitigate for the project's use of such habitat area.
The initial study and proposed mitigated negative declaration noted that the quality of
habitat was not the highest quality given surrounding development and did not include
any area that would be considered suitable for breeding habitat. Nevertheless, because
of the potential for the species to use portions of the site (specifically, aestivation or
summer hibernation, within existing burrow areas), the initial study set forth Mitigation
Measures BIO -1 and BIO -3. These include several precautionary measures intended to
avoid direct impact to CTS by excluding the species from the project construction area.
In subsequent personal communication, CDFW Environmental Scientist Marcia Grefsrud
clarified that the CDFW accepts only one methodology to confirm the absence of CTS in
an area that has suitable upland habitat. This method involves a series of surveys
(known as "pitfall trap surveys "). Such surveys are conducted within a selected area
over an approximately 24 month period and include special protocols during rain
events, when salamanders are most likely to be active and mobile. As CTS generally live
underground, fencing off an area may preclude new CTS from entering, but others may
yet emerge from underground, even after an area is cordoned off. Therefore, only after
the completion of pitfall trap surveys might CDFW accept a conclusion that a given area
is absent of CTS.
The City does not propose to conduct these surveys to establish absence. Rather, the
City here adds provisions to Mitigation Measure BIO -3, including an application to the
CDFW for an incidental take permit (ITP). Such permits are used in the anticipation that
during the construction period, one or more CTS may emerge from underground or
otherwise enter the construction area and be subjected to relocation, capture, or
mortality. Prior to applying for the ITP, the City anticipates completing more detailed
design drawings for the project and will, as feasible, modify the project to reduce
environmental effects disclosed in the initial study /proposed mitigated negative
declaration.
1 As of January 1, 2013, the California Department of Fish and Game officially changed its name to
California Department of Fish and Wildlife and is referenced in this document as California Department of
Fish and Wildlife (CDFW). <http: / /www.dfg.ca.gov /about /namechange.html> Accessed January 3, 2012.
«III
In the ITP, CDFW will stipulate measures specific to site conditions, likely echoing the
enhanced avoidance measures set forth in Mitigation Measure 11310 -3. Following
assessment of the quality of the affected habitat, CDFW will determine whether any
other compensatory measures are required, potentially including the purchase of
credits at a qualifying mitigation bank.
Revisions to Mitigation Measure BIO -3 are shown below (with new information in bold,
italic, underlined text, and deleted information in ��.�,- rleeRt)
Mitigation Measure 13I0-3:
Pre - Construction Activities
• Prior to the initiation of construction, the City shall obtain an incidental take permit
(ITP) from the CDFW. Any additional conditions set forth in the ITP to avoid or minimize
impacts to CTS shall be incorporated into the project.
• A qualified biologist shall conduct a pre- construction survey in the immediate area of
construction and where equipment will be located and construction activities will occur
be Ilereated. "Y..,FFeetive ,.,,rvey icnay Fequ*r„ buFFew ,.eepiRg. Pre -
construction survey methodology will conform to that specified in the above -
referenced ITP.
• An environmentally sensitive area (ESA) and exclusion zone shall be established around
the freshwater marssh on -site by a qualified biologist. The ESA and exclusion zone shall
be fenced with erosion control fencing (in a manner consistent with Mitigation Measure
13I0-1) and marked with high visibility fencing. The exclusion zone shall encompass the
maximum practicable distance from the work site the aquatic feature (wet or dry).
• Prior to initiating project construction activities, the City shall install temporary
exclusion fencing between the project area and habitat in Camp Parks. The City shall
coordinate with Camp Parks to install permanent exclusion fencing on the existing
fence between Camp Parks and Dougherty Road, as feasible. Permanent exclusion
fencing would be installed at the completion of construction activities, or temporary
exclusion fencing would be made permanent.
Activities During Construction
• A qualified biologist shall be present for initial ground- disturbing activities. The biologist
shall have the authority to stop any work that may result in impacts to CTS. If the
biologist exercises this authority, the USFWS and the CDF4W shall be notified by
telephone and electronic mail within 2 working days.
• If CTS are encountered in the project area, work within the immediate vicinity shall
cease immediately and the City shall engage a qualified biologist pessessmg a aliel «"
-Rased- ,,,, the prefessi Ral ;,,d,.,,. eRt of the biologist to determine if project activities
can be conducted without harming or injuring the CTS, in which case the individual(s)
shall be left at the location of discovery and monitored by the biologist. All project
personnel shall be notified of the finding and at no time will work occur within the
vicinity of the listed species without a biological monitor present. USFWS and CDFW
shall be notified and determination shall be made as to the method of relocation, if
necessary. At no time shall CTS be handled without an ITP from CDFW. If it L;
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• No monofilament plastic shall be used for erosion control.
• Construction personnel shall inspect open trenches each morning and evening of
construction for trapped CTS.
• To control erosion during and after project implementation, the construction contractor
will implement Best Management Practices (BMPs).2
• Work will be avoided within suitable habitat during the rainy season as recommended
in the East Alameda County Conservation Strategy (EACCS 2010), from October 15 (or
the first measurable fall rain of 1 inch or greater) to May 1, or as otherwise determined
in the ITP.
Significance after mitigation: Implementation of Mitigation Measures BI0-1 and BI0-3 would
reduce potential impacts to the California tiger salamander to a less- than - significant level.
1.2 The commenter states that the expanded width of the Dougherty Road paved area may
encourage CTS to enter the roadway and face an increased mortality risk from vehicle
strikes. In subsequent personal communication, CDFW Environmental Scientist Marcia
Grefsrud clarified that project design, particularly along the eastern edge of Dougherty
Road, should, to the extent feasible, preclude /discourage CTS from entering the
roadway. To this end, the City adds the (previously noted) provision to Mitigation
Measure 11310 -3.
Prior to initiating project construction activities, the City shall install temporary
exclusion fencing between the project area and habitat in Camp Parks. The City
shall coordinate with Camp Parks to install permanent exclusion fencing on the
existing fence between Camp Parks and Dougherty Road, as feasible. Permanent
exclusion fencing would be installed at the completion of construction activities, or
temporary exclusion fencing would be made permanent.
1.3 The commenter states that the Biological Evaluation included with the proposed
mitigated negative declaration utilized out -of date, superceded protocols for the
avoidance and minimization of impacts to California Burrowing Owl. As further detailed
in the response to Comment 1.4 below, the City has updated the initial study /proposed
2 As discussed in section IX. Hydrology and Water Quality, Best Management Practices are included in the
City of Dublin's NPDES permit.
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mitigated negative declaration to reflect burrowing owl protocols and processes from
the March 7, 2012 Staff Report on Burrowing Owl Mitigation.
1.4 Related to Comment 1.3 above, the commenter notes that additional mitigation should
be added to ensure consistency with the CDFW's 2012 Staff Report on Burrowing Owl
Mitigation. Accordingly, the City has replaced the entirety of Mitigation Measure 1131O -5
with the new text shown below.
Mitigation Measure BI0-5: The City will implement measures outlined in the CDFW's Staff
Report on Burrowing Owl Mitigation (CDFW 2012), along with informal consultation with
CDFW, to determine potential effects of the proposed project and the required mitigation.
As a habitat assessment has identified potentially suitable burrowing owl habitat within
the protect site (GANDA 2012), prior to protect initiation occupancy surveys — as defined in
CDFW's Staff Report on Burrowing Owl Mitigation (2012) — shall be conducted by a
qualified biologist. If burrowing owls are found to occupy burrowing owl habitat in or
adjoining the project area, avoidance and minimization measures will be determined in
consultation with CDFW and may include.
• An impact assessment by a qualified biologist to determine all factors that could
affect burrowing owls, including type and extent of disturbance, duration and
timing of impact, visibility and sensitivity, environmental factors, significance of
impacts, cumulative effects, and mitigation goals.
• A burrowing owl habitat mitigation plan, based on the results of the impact
assessment, in consultation with and subject to review and approval by CDFW.
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• Pre - construction surveys by a qualified biologist of areas within 150 meters (about
492 feet) of the project study area to begin no less than 14 days and no more than
30 days prior to initiating ground disturbance activities to avoid "take" of
burrowing owls and their nests. Pre - construction survey results should be
submitted to CDFW for review and approval.
• Monitoring by a qualified biologist during site disturbance to prevent impacts to
burrowing owls identified during pre- construction surveys.
• Establishing buffer zones, visual screens, or other measures during project
activities to minimize disturbance impacts to nesting sites. Limits of buffers zone
must be clearly marked with signs, flagging, or fencing. Appropriate buffer zones
would be determined in consultation with CDFW. Restricted activity dates and
buffer zones recommended in the CDFW Staff Report on Burrowing Owl Mitigation
(2012) include:
Source: CDFW, Staff Report on Burrowing Owl Mitigation, 2012
• Compensatory mitiaation throuah the purchase of credits at an approved
mitigation bank, based on habitat acreage, number of burrows, and burrowing
owls impacted, in areas where buffer zones are not practicable -- particularly due
to access restrictions associated with the proximity of PRFTA —for temporary
and /or permanent impacts to nesting, occupied and satellite burrows, burrowing
owl habitat. Mitigation would be determined in consultation with CDFW.
• Burrow exclusion, during the non - breeding season to permanently exclude
burrowing owls and close burrows, for areas that may be permanently impacted
by the proposed project. Burrow exclusion and /or closure would be conducted
under a CDFW burrowing owl exclusion plan.
• Site surveillance by a qualified biologist during project activities to detect
burrowing owls that attempt to colonize or re- colonize an area that will be
impacted.
• Restoration of temporary habitat impacts within the proposed project area to pre -
project conditions.
Significance after mitigation: Implementation of Mitigation Measures B10 -1 and B10 -5 would
reduce potential project impacts to the burrowing owl to a less- than - significant level.
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Level of Disturbance
Low
Medium
High
Time of Year
200 meters
500 meters
500 meters
April 1 -Aug 15
(about 656 feet)
(about 1640 feet)
(about 1640 feet)
200 meters
200 meters
500 meters
Aug 16 -Oct 15
(about 656 feet)
(about 656 feet)
(about 1640 feet)
50 meters
100 meters
500 meters
Oct 16 -Mar 31
(about 164 feet)
(about 328 feet)
(about 1640 feet)
Source: CDFW, Staff Report on Burrowing Owl Mitigation, 2012
• Compensatory mitiaation throuah the purchase of credits at an approved
mitigation bank, based on habitat acreage, number of burrows, and burrowing
owls impacted, in areas where buffer zones are not practicable -- particularly due
to access restrictions associated with the proximity of PRFTA —for temporary
and /or permanent impacts to nesting, occupied and satellite burrows, burrowing
owl habitat. Mitigation would be determined in consultation with CDFW.
• Burrow exclusion, during the non - breeding season to permanently exclude
burrowing owls and close burrows, for areas that may be permanently impacted
by the proposed project. Burrow exclusion and /or closure would be conducted
under a CDFW burrowing owl exclusion plan.
• Site surveillance by a qualified biologist during project activities to detect
burrowing owls that attempt to colonize or re- colonize an area that will be
impacted.
• Restoration of temporary habitat impacts within the proposed project area to pre -
project conditions.
Significance after mitigation: Implementation of Mitigation Measures B10 -1 and B10 -5 would
reduce potential project impacts to the burrowing owl to a less- than - significant level.
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STATE OF CALIFORNIA- BUSINESS, TRANTSPORTA PION AND H01iSINCI A(IF,LTC Y EDI+R ND G. BROWN Jr.. Govemar
DEPARTMENT OF TRANSPORTATION
Ill GRAND AVENUE
P. O. BOX 23660
OAKLAND, CA 94623 -0660
PHONE (510) 286 -6053
FAX (510) 286 -5559
TTY 711
December 4, 2012
Mr. Ferd Del Rosario
City of Dublin
100 Civic Plaza
Dublin, CA 94568
Dear Mr. Ferd Del Rosario:
Dougherty Road Improvements -- Mitigated Negative Declaration
Letter 2
A
Flea your power!
Be energy e fficien tl
ALA580�}865�]
ALA - 580 -19.85
SCH42012112019
Thank you for including the California Department of Transportation (Caltrans) in the
environmental review process for the Dougherty Road Improvements project. The following
comments are based on the Mitigated Negative Declaration (MND).
The proposed project would add capacity to existing bicycle and pedestrian facilities on
Dougherty Road north of Interstate 580. However, the MND did not discuss the impacts of these
improvements to I- 580/Hopyard- Dougherty Road interchange overcrossing. Please discuss how L2 -1
these improvements connect to existing roadway configuration at the interchange including
mitigation measures for the safety of bicyclist and pedestrians.
Should you have any questions regarding this letter, please tali Yatman Kwan, AICP of my staff
at (510) 622 -1670.
Sincerely,
ERIK ALM, AICP
District Branch Chief
Local Development - Intergovernmental Review
c: State Clearinghouse
"Caltrans improves mobility across California"
Comment Letter 2: California Department of Transportation
2.1 The commenter states that the proposed project would add capacity to existing bicycle and
pedestrian facilities, and should therefore consider impacts of increased bicycle and
pedestrian usage to the 1- 580 /Hopyard- Dougherty Road Interchange overcrossing. This
overcrossing is well outside the project study area.
Existing bicycle and pedestrian facilities along the study corridor consist of a mixed bicycle
and pedestrian path along the east side of Dougherty Road and a sidewalk along the west
side of Dougherty Road. The project would make improvements to the existing bicycle and
pedestrian infrastructure through improving the existing bicycle and pedestrian path and
adding Class II bicycle lanes in both travel directions. There is no evidence that the mere
expansion of bicycle facilities (the addition of on- street lanes) would necessarily result in any
significant increase in bicycle traffic, particularly for locations outside the study area,
including the referenced overcrossing. The project does not add any new residential or
commercial space, and therefore would not itself foreseeably introduce any significant
number of new bicycle riders to the project area. The addition of the Class II lanes would
merely serve to better accommodate existing bicycle riders.
As an aside, the City understands the larger need for bicycle facilities across 1 -580 to
Pleasanton. The Dublin Bikeways Master Plan (2007) recommends a crossing study at the 1-
580 /Hopyard- Dougherty Road intersection that would connect the Class 11 lanes on
Dougherty Road to the Class 11 lanes on Hopyard Road in Pleasanton. In the future, the City
of Dublin will collaborate with Caltrans and the City of Pleasanton to come up with
recommendations for additional bikeways crossing 1 -580 at the Hopya rd- Dougherty Road
interchange.
x i
Dougherty Road Improvements
Open House `�.� ;�i� j
Letter 3
Dublin Library— Community Room = ALAMEDA
CITY or
DUBLIN November 14, 2012
7:00 — 8:00 p.m.
COMMENT FORM
Please submit written comments today, by mail or by e-mail to:
City of Dublin
Dougherty Road Improvements
Attn: Ferd Del Rosario
100 Civic Plaza
Dublin, CA 94568
Ferd.delrosario@dublin.ca.gov
Name: ,)A-A)
Address:
Phone:
E -mail:
Please provide written comments regarding any questions or concerns you may
have about the Dougherty Road Improvement Project by 5:00 p.m. on December
5, 2012.
TIZ p xl&� <u� — 0 '4 ewlel 94_�
Please use the reverse side or attach any additional pages
L3 -1
Comment Letter 3: Dan Rodrigues
3.1 The commenter states that the preliminary plans look good and notes his desire for the
project to provide a better, smoother road than what currently exists. The commenter
suggests using Hopyard Road in Pleasanton as an example.
The comment is noted. The comment does not raise any issue regarding a significant
environmental effect of the project. Please also refer to page 9 of the Initial Study /proposed
Mitigated Negative Declaration for history and background on the development of the
Dougherty Road Improvements project.
v:
5fp „pF,sTk .
STATE OF CALIFORNIA
° Governor's Office of Planning and Research
-0L! =UPK State Clearinghouse and Planning Unit
Edmund G. Brown Jr.
Governor
December 5, 2012
Ferd Del Rosario
City of Dublin
100 Civic Plaza
Dublin, CA 94568
Subject- Dougherty Road Improvements
SCH #: 2012112019
Dear Ferd Del Rosario:
Letter 4yFE,GE °���”,
o � �
�l��E OF rnLiF4Pa`P
Ken Alex
Director
The State Clearinghouse submitted the above named Mitigated Negative Declaration to selected state
agencies for review. On the enclosed Document Details Report please note that the Clearinghouse has
listed the state agencies that reviewed your document. The review period closed on December 4, 2012, and
the comments from the responding agency (ics) is (are) enclosed. If this comment package is not in order,
please notify the State Clearinghouse immediately. Please refer to the project's ten -digit State
Clearinghouse number in future correspondence so that we may respond promptly.
Please note that Section 21104(c) of the California Public Resources Code states that:
"A responsible or other public agency shall only make substantive comments regarding those
activities involved in a project which are within an area of expertise of the agency or which are
required to be carried out or approved by the agency. Those comments shall be supported by
specific documentation."
These comments are forwarded for use in preparing your final environmental document. Should you need
more information or clarification of the enclosed comments, we recommend that you contact the
commenting agency directly.
This letter acknowledges that you have complied -,vith the State Clearinghouse review requirements for
draft environmental documents, pursuant to the California Environmental Quality Act. Please contact the
State Clearinghouse at (916) 445 -0613 if you have any questions regarding the environmental review
process.
Sincerel
Scott Morgan
Director, State Clearinghouse
Enclosures
cc: Resources Agency
1400 TENTH STREET P.O. BOX 3044 SACRAMENTO, CALIFORNIA 96812 -3044
TEL(916)445-0613 FAX(91G)S23-3018 ww w.opr- ca.gov
Document Details Report
State Clearinghouse Data Base
SCH# 2012112019
Project Title Dougherty Road Improvements
Lead Agency Dublin, City of
Type MND Mitigated Negative Declaration
Description The City of Dublin proposes multi -modal improvements to Dougherty Road, including new and
improved bicycle and pedestrian facilities, now bus stops and bus pull -outs, and roadway widening.
These improvements will address traffic congestion and multi -modal circulation issues for commuters
traveling Dougherty Road, including improved access to the Dublin /Pleasanton BART station.
- --
--Improvements-will-include adding -Class-11-bicycle lanes-on both-directions of_travel,_and.reconstructing
or resurfacing the existing 8' -wide bicycle and pedestrian path on the east side of the roadway. The
project will also widen the roadway from a four -lane facility into a six -lane divided roadway, with a
raised landscaped median in the middle of roadway, including left -turn pockets as well as modify traffic
signals to match the new roadway geometry.
Lead Agency Contact
Name Ferd Del Rosario
Agency City of Dublin
Phone 925 833 6630 Fax
email
Address 100 Civic Plaza
City Dublin State CA Zip 34568
Project Location
County Alameda
City Dublin
Region
Lat / Long 37'42'23" N 1 121' 54'37" W
Cross Streets Between Sierra Lane and the North City Limit
Parcel No. Along Public ROW
Township Range Section Base
Proximity to:
Highways Hwy 580, 680
Airports
Railways
Waterways Alamo Crk, Canal, Chabot Canal, other canal
Schools Valley HS
Land Use
Project issues Aesthetic/Visual; Agricultural Land; Air Quality; Archaeologic - Historic; Biological Resources;
Drainage /Absorption; Flood Plain /Flooding; Forest Land /Fire Hazard; Geologic /Seismic; Minerals;
Noise; Population /Housing Balance; Public- Services; Recreation /Parks; Schools /Universities; Soil
Erosion/Compaction/Grading; Solid Waste; Toxic /Hazardous; Traffic /Circulation; Vegetation; Water
Quality; Water Supply; Wetland /Riparian; Growth Inducing; Landuse; Cumulative Effects
Reviewing Resources Agency; Department of Fish and Game, Region 3; Office of Historic Preservation;
Agencies Department of Parks and Recreation; Department of Water Resources; California Highway Patrol;
Caltrans, District 4; Caltrans, Division of Transportation Planning; Air Resources Board, Transportation
Projects; Regional Water Quality Control Board, Region 2; Native American Heritage Commission;
State Lands Commission
Date Received 11/05/2012 Start of Review 11/05/2012 End of Review 12/04/2012
Comment Letter 4: State of California Governor's Office of Planning and Research, State
Clearinghouse and Planning Unit
The City received a letter from the State Clearinghouse acknowledging that the Mitigated Negative
Declaration was submitted to the select state agencies for review. The letter did not include any
comments regarding environmental effects of the project. The comment letter from Caltrans dated
December 4, 2012 was received separately (see Comment Letter 2 above).
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�nitia�Study DuugheilyRuad�mpruvements
SECTION 2 - REVISED INITIAL STUDY
Dougherty Road Improvements
Project Description
1. Project Title:
Dougherty Road Improvements
2. Lead Agency Name and Address:
City of Dublin, 100 Civic Plaza, Dublin, CA 94568
3. Contact Person and Phone Number. Ferd Del Rosario, 925 - 833 -6630, email:
Erd.:. J r.. sa..L!.�!..0 ..L!....!.!.. ] ..::g. ✓
4. Project Location:
The project is located in Alameda County, within the City of Dublin on Dougherty Road (see Figure
1). The project site begins near the southern end of Dougherty Road at Sierra Lane and continues
northerly along Dougherty Road to Fall Creek Road at the City boundary with San Ramon (see
Figure 2). The project site includes the entire paved portion of Dougherty Road between these
points as well as lands both within and outside the unpaved public right -of -way on the east side
of Dougherty Road. On the west side of Dougherty Road, the project site's limit is the existing
curb.
5. Project Sponsor's Name and Address: City of Dublin Public Works Department, 100 Civic Plaza
Dublin, CA 94568
6. General Plan Designation: Figure 3 shows General Plan land use designations around the project
site, which include:
• Dougherty Road Right -of -Way: No roadways in Dublin have General Plan designations
• Lands Adjacent to Dougherty Road (east side only; no west side lands involved)
• Sierra Lane to Houston Place: Business Park /Industrial and Outdoor Storage
• Houston Place to Scarlett Drive:
• Medium /High- Density Residential and Retail Office (mixed use)
• Medium /High- Density Residential
• North of Scarlett Drive: Parks Reserve Force Training Area (Camps Parks)
7. Zoning: Figure 4 shows zoning around the project site, which includes:
• Dougherty Road Right -of -Way: No roadways in Dublin are zoned
• Lands Adjacent to Dougherty Road (east side only; no west side lands involved)
o Sierra Lane to Houston Place: Planned Development (PD 1411 ZU)
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• Houston Place to Scarlett Drive: Planned Development
• PD 1411 ZU
• PD 99 -030
• North of Scarlett Drive:
• M -1 Light Industrial (Iron Horse Trail Area)
• Agriculture (Camp Parks Reserve Force Training Area)
8. Project Background and Description:
Background
The City of Dublin proposes multi -modal improvements to Dougherty Road, including new and
improved bicycle and pedestrian facilities, new bus stops and bus pull -outs, and roadway widening.
These improvements will address traffic congestion and multi -modal circulation issues for
commuters traveling Dougherty Road, including improved access to the Dublin /Pleasanton BART
station.
The City has long planned for improvement to Dougherty Road. The Circulation Element of the City's
General Plan (adopted 1985) called for the expansion of Dougherty Road to a six -lane arterial.
Subsequent updates to the Circulation Element called for the addition of on- street ( "Class II ") bicycle
lanes to the entire length of Dougherty Road.
Since adopting the Circulation Element in 1985, the City has enforced a dedication requirement from
property owners along Dougherty Road to provide the necessary area for the anticipated future
roadway width. As development occurred along the Dougherty Road corridor the City has required
new buildings and parking areas to be sufficiently set back from the existing roadway to allow for the
future roadway widening.
The City previously expanded the roadway to a divided six -lane facility south of Sierra Lane.
However, the portion of Dougherty Road between Sierra Lane and the City limits to the north has
generally remained at 4 lanes with no median or on- street bicycle lanes provided. The proposed
project would widen Dougherty Road in accordance with the City Circulation Element resulting in a
consistent roadway cross - section, pedestrian and bicycle facilities along the entire length of
Dougherty Road from Dublin Boulevard to the North City Limit.
Description
The Dougherty Road Improvements Project (the project) will improve pedestrian and bicycle facilities
along a 1.9 mile long section of Dougherty Road, from the intersection of Sierra Lane and Dougherty
Road, north to the city limit line (with roadway and median conforms extending approximately 800 -
feet into the City of San Ramon). Improvements will include adding Class II bicycle lanes on both
directions of travel, and reconstructing or resurfacing the existing 8' -wide bicycle and pedestrian
path on the east side of the roadway. The project will also widen the roadway from a four -lane
facility into a six -lane divided roadway, with a raised landscaped median in the middle of roadway,
including left -turn pockets at several road intersections. Approximately six on- street parking spaces
between Sierra Lane and Houston Place will be removed as part of the project. These spaces are
located along the eastern (northbound) side of Dougherty Road, within the existing public right -of-
way.
Appendix A includes plan and profile sheets showing the proposed project improvements. Figures 5
through 7 illustrate future lane configurations. Figures 8 and 9 show proposed landscaping concepts
for the project.
Traffic signals within the project limits will be modified to match the new roadway geometry,
including signals at Sierra Lane, Scarlett Drive, South Mariposa Drive, Amador Valley Blvd, and Willow
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Creek Drive (The South Mariposa Drive signal is planned to be installed prior to this project by KB
Home to mitigate the traffic impacts of the Emerald Vista development). Utility relocations and
adjustment will be necessary in order to support the project, including, but not limited to, the
relocation of a Pacific, Gas & Electric (PG &E) transmission line pole and a portion of a Zone 7 water
pipeline facility.3 The project would also include new roadway lighting and landscaping along the
east side of the roadway. Clean water features supporting compliance with the Regional Water
Quality Control Board's C.3 requirements will be implemented. The project also proposes drainage
swales in the new roadway median. The project design will direct a substantial portion of
stormwater collected in the northbound lanes into the new median. Right -of -way acquisition from
a commercial property would be necessary to construct the project .4 Construction and operation of
the project may also require minor refinements to the terms of existing City easements over other
properties.
9. Surrounding Land Uses and Setting
Surrounding properties consist of mixed residential use and undeveloped land to the north, the
Camp Parks and commercial uses to the east, a mix of residential and commercial use to the west,
and commercial use to the south.
10. Construction
Project construction is planned to take place in two or three phases across one or more construction
seasons (typically spring to fall). The first phase is expected to include approximately 0.8 miles of
project improvements between Scarlett Drive and North City Limit. The second phase will complete
the remaining portion of project improvements (approximately 0.7 miles long) between Scarlett
Drive and the North City Limit. The third phase will include the project improvements between
Sierra Lane and Scarlett Drive. This last phase of the project could be constructed concurrently with
either of the first two phases listed above or separately. Construction of the project would require
grubbing and land clearing to prepare the site for grading and landscaping. Subsequent to clearing,
drainage, other utilities, and sub -grade engineering work would be implemented, followed by paving
and landscaping. Dougherty Road would remain open and appropriate traffic controls would be in
place during all phases of construction.
11. Public agencies whose approvals are required for project implementation:
• City of Dublin
• City of San Ramon (for portions of project at City boundary)
• Bay Area Air Quality Management District (building demolition)
3 The project would require relocation of an electrical transmission line in conflict with project
improvements, but is not anticipated to alter the alignment of the transmission lines.
4 This property was developed for commercial use prior to the incorporation of the City.
S 'Ii,l,('m,i o[f gheilfir =.rr,o`m4 YY1i.tYr�!4 YY1� Y1I�
Environmental Factors Potentially Affected
This initial study includes an evaluation of impacts based on the California Environmental Quality Act
(CEQA) Guidelines Appendix Environmental Checklist. Each checklist item is explained in the
discussion following the checklist and, if necessary, mitigation measures are provided to reduce
impacts to a less- than - significant level. In accordance with CEQA, all answers take into account the
whole of the action, including on- and off -site effects, direct and indirect effects, and effects from
both construction and operation of any new development.
Each checklist criterion is marked to identify whether there is an environmental impact.
No Impact indicates that there is no impact.
0 Less- than - Significant Impact means that while there is some impact, the impact does not
exceed any identified thresholds.
Significant Unless Mitigation Incorporated indicates that a significant impact has been
identified in the course of this analysis and mitigation measures have been provided in this
initial study to reduce a potentially significant impact to a less- than - significant level.
Significant Impact indicates that not all impacts have been reduced to less- than - significant
and an Environmental Impact Report (EIR) will be required. As noted previously, mitigation
measures developed for this project reduce any significant impacts to a less- than - significant
level and an EIR will not be required.
Cumulative Impacts are discussed in Section XVIII, Mandatory Findings. The project is
considered in combination with approved and proposed projects in the vicinity of the
project, as well as the projected buildout of the County as allowed under the County's
General Plan to determine if the cumulative impact is significant or less than significant. If a
significant cumulative impact is identified, the project's contribution to the significant
cumulative impact is considered.
c, ..
The environmental factors checked below would be potentially affected by the project, involving at
least one impact that is a significant impact as indicated by the checklist on the following pages.
Mitigation measures have been provided for each significant impact, reducing all to a less -than-
significant level.
❑ Aesthetics
®
Air Quality
®
Cultural Resources
❑
Greenhouse Gas Emissions
❑
Hydrology & Water Quality
❑
Mineral Resources
❑
Population & Housing
❑
Recreation
❑
Utilities & Service Systems
❑ Agriculture and Forestry Resources
® Biological Resources
® Geology & Soils
® Hazards & Hazardous Materials
❑ Land Use & Planning
❑ Noise
❑ Public Services
❑ Transportation & Circulation
❑ Mandatory Findings of Significance
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H. M r, IT ri r. W or,
On the basis of this initial evaluatiow
I find that the proposed project COULD NOT have a significant effect on the environment,
ancla NEGATIVE DECLARATION will be prepared. 1:1
I find that the proposed project COULD have a significant effect on the environment, but
mitigations identified in this Initial Study will reduce these impacts to a less than significant CK
level, and a MITIGATED NEGATIVE DECLARATION will be prepared.
I find that the proposed project MAY have a significant effect on the environment, and an
ENVIRONMENTAL IMPACT REPORT is required. 1:1
I find that the proposed project MAY have a significant effect(s) on the environment, but at
least one effect has been adequately analyzed in an earlier document pursuant to applicable
legal standards, and 2) has been addressed by mitigation measures based on the earlier ❑
analysis as described on attached sheets, if the effect is a "potentially significant impact" or
"potentially significant unless mitigated," An ENVIRONMENTAL IMPACT REPORT is required,
but it must analyze only the effects that remain to be addressed.
I find that although the proposed project could have a significant effect on the environment,
there WILL NOT be a significant effect in this case because all potentially significant effects
(a) have been analyzed adequately in an earlier EIR pursuant to applicable standards and (b) ❑1
have been avoided or mitigated pursuant to that earlier EIR, including revisions or mitigation
measures that are impose_0,u on the proposed project,
X,
Date
Du)ft lnitjal Study
November 2012
-6-
DouLhe Ly Road Improvements
ENVIRONMENTAL IMPACT CHECKLIST
1. Aesthetics
Would the project:
a) Have a substantial adverse effect on a
scenic vista?
❑
❑
®
❑
b) Substantially damage scenic resources,
including but not limited to: trees, rock
outcroppings, and historic buildings
❑
❑
❑
within a state scenic highway?
c) Substantially degrade the existing
visual character or quality of the site and
❑
❑
❑
F-1
its surroundings?
d) Create a new source of substantial light
or glare which would adversely affect day
❑
❑
❑
F-1
or nighttime views in the area?
Project Setting
The existing visual character of the project site is influenced by adjacent land uses, the landscaped
and bermed area along the existing bicycle path, and more distant views towards hillside areas.
Distant views of Mount Diablo can be seen while traveling north on Dougherty Road or the existing
bicycle /pedestrian path. The southern part of the project site has a more developed, urbanized
character, whereas north of Scarlett Drive, the bike path, trees, and berm create a somewhat more
open, less developed visual character. However, the entire project site is located within an
urbanized area with existing lighting. Sources of existing nighttime light on the project site include
streetlights, lights associated with commercial development /signs, and internal /external residential
lighting.
The City of Dublin's General Plan (Community Design and Sustainability Element) identifies
Dougherty Road as a corridor of regional significance. Policy goals for corridors of regional
significance include incorporation of design features that promote positive regional identity,
including attractive development, unique landscaping, and preservation of views to rolling hillsides
and other prominent features.
According to the City's Streetscape Master Plan, Dougherty Road at Dublin Boulevard is one of the
City's gateways. Per this plan, gateways should include design features that encourage a sense of
arrival, such as landscaping, monument signage, and /or special median treatment.
7 ..
a) Have a substantial adverse effect on a scenic vista?
Less - than - Significant Impact. Although there are no designated scenic vistas in the vicinity of the
project site the City's General Plan identifies Dougherty Road as a corridor of regional significance.
Corridors of regional significance are important to the character of the City and new development
projects that fall within these corridors are subject to design review by the City to protect the
corridor's visual quality.
The project entails widening of the existing roadway, construction of a landscaped median, and
improvements to the bike path and landscaping on the east side of Dougherty Road.
Implementation of the project would not substantially alter or obstruct existing views of Mount
Diablo to the north or the rolling hillsides to the south and east. Work proposed consists primarily of
grading, paving, and other surficial improvements. No structures would be erected; however, the
project is expected to involve the demolition of the existing Camp Parks guardhouse located to the
north of the Camp Parks entrance sign. Therefore, implementation of the project would not block or
obstruct existing views and would have a less- than - significant impact on scenic vistas. No mitigation
is required.
b) Substantially damage scenic resources, including but not limited to: trees, rock
outcroppings, and historic buildings within a state scenic highway?
No Impact. The project is not located within a state scenic highway. Depending on final project
design, it may be necessary to relocate the Camp Parks entrance sign, which is an eligible historical
resource- (see Mitigation Measure CUL -1). The project involves removal of some of the existing
trees adjacent to the existing landscaping berm to make way for the relocated bicycle path and new
landscaping along the berm. Moreover, the project will provide a landscaped median to enhance the
corridor's scenic character. In all, the project would not have any impact on scenic resources within
a state scenic highway.
c) Substantially degrade the existing visual character or quality of the site and its
surroundings?
Less - than - Significant Impact. The project will add visual enhancements such as a landscaped
median, improvements to the bike path, and plantings along the berm (see Figures 8 and 9). These
landscaping treatments will enhance the corridor's overall visual character, in a manner consistent
with the Streetscape Master Plan. Therefore, implementation of the project would enhance the
visual character of the area and would have less- than - significant beneficial impacts to the visual
character and quality of the site and its surroundings.
d) Create a new source of substantial light or glare which would adversely affect day or
nighttime views in the area?
Less - than - Significant Impact. The project site is located in an existing urbanized setting with
streetlights and lights from residential and commercial uses. The project would introduce a change
in nighttime lighting through installation of streetlights along the bicycle and pedestrian path on the
east side of Dougherty Road, adjacent to Camp Parks. However, new street lighting would be similar
in design and light output to existing lights on the west side of Dougherty Road. Given existing
lighting in the corridor, proposed new lighting would not adversely affect nighttime views. The
project would not introduce any features that would cause glare or change daytime views through
lighting. Therefore, impacts of the project on light and glare would be less- than - significant.
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11. Agriculture and Forest Resources
Would the project:
a) Convert Prime Farmland, Unique
Farmland, or Farmland of Statewide
Importance (Farmland) to non-
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❑
agricultural use?
b) Conflict with existing zoning for
agricultural use, or with a Williamson Act
El
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F-1
❑
contract?
c) Conflict with existing zoning for, or
cause rezoning of, forest land (as defined
in Public Resources Code section
12220(g)), timberland (as defined by
Public Resources Code section 4526), or
❑
❑
❑
❑
timberland zoned Timberland Production
(as defined by Government Code section
51104(g))?
d) Result in the loss of forest land or
conversion of forest land to non - forest
❑
❑
El
❑
use?
e) Involve other changes in the existing
environment which, due to their location
or nature, could result in conversion of
Farmland, to non - agricultural use or
❑
❑
❑
❑
conversion of forest land to non - forest
use?
Project Setting
According to the California Department of
Conservation's Farmland Mapping and Monitoring
Program (FMMP), the entire paved portion of Dougherty Road as well as
lands immediately adjacent
S (':iY
to the roadway are designated as Urban and Built -Up Land. The project site does not include any
type of protected farmlands (Prime Farmland, Unique Farmland, or Farmlands of Statewide
Importance) .s Camp Parks is zoned "Agriculture" on the City's Zoning Map; however, no substantial
agriculture activities are known to occur anywhere on Camp Parks land.
a) Convert Prime Farmland, Unique Farmland, or Farmland of Statewide Importance (Farmland)
to non - agricultural use?
No impact. The project site is a developed roadway and is not designated as farmlands of statewide
or local importance. Therefore, the project would not convert farmland to a non - agricultural use.
No impact would occur and no mitigation is required.
b) Conflict with existing zoning for agricultural use, or with a Williamson Act contract?
Less - than - Significant Impact. Although Camp Parks includes a mix of institutional and residential
uses, the City has zoned the entirety of Camp Parks as "Agriculture" (Figure 4). No portion of the
Camp Parks property is in agricultural use or under a Williamson Act contract. Land uses at Camp
Parks consist of a mix of institutional and residential uses. Although the project may require
adjustments to the City's existing easements on Camp Parks property, a minor expansion of an
existing right -of -way as proposed by the project does not constitute any substantial conflict with the
underlying existing zoning. As noted above, the entire project site, including Camp Parks, is
considered to be "urban and built -up land" per the California Department of Conservation. Project
impacts would thus be less than significant and no mitigation is required.
c) Conflict with existing zoning for, or cause rezoning of, forest land (as defined in Public
Resources Code section 12220(g)), timberland (as defined by Public Resources Code
section 4526), or timberland zoned Timberland Production (as defined by Government
Code section 51104(g))?
and
d) Result in the loss of forest land or conversion of forest land to non - forest use?
and
5 Alameda County Important Farmland 2010. State of California Department of Conservation, Farmland
Mapping and Monitoring Program. < f: tis�..:././ f:. k:..:.. cc�w,, srv.:. c.=:..:. g. ��. v/ k:. u.. ��./ d.. l.. r../. F.✓ I..✓ I.. P./ k:. d. f/ 2.. 0.. 1: :.0./ ,I, ..1::. .:..1�. f>
Accessed July 5, 2012.
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e) Involve other changes in the existing environment which, due to their location or nature,
could result in conversion of Farmland, to non - agricultural use or conversion of forest land
to non - forest use?
No impact. The project site is fully urbanized and neither includes nor is zoned for forest land
or timberland use. Nor does the project site include active farmland or forest land and no such
lands are in the immediate vicinity. Accordingly, the project would neither directly nor indirectly
convert farmland nor forest land to any other use. No impact would occur and no mitigation is
required.
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22
Duughe�yRuad�mpruvements
111. Air Quality
Would the project:
a) Conflict with or obstruct
implementation of the applicable Air
Quality Attainment Plan or Congestion
❑
❑
❑
❑
Management Plan?
b) Violate any air quality standard or
contribute substantially to an existing or
❑
❑
❑
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air quality violation?
c) Result in a cumulatively considerable
net increase of any criteria pollutant for
which the project region is non -
attainment under federal or state ambient
❑
❑
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air quality standard (including releasing
emissions which exceed quantitative
thresholds for ozone precursors)?
d) Expose sensitive receptors to
substantial pollutant concentrations?
❑
®
❑
❑
e) Create objectionable odors affecting a
substantial number of people?
❑
❑
❑
❑
Project Setting
Qualified scientists at Illingworth and Rodkin prepared an Air Quality and Greenhouse Gas Emission
Assessment for the project in July 2012. The report is included as Appendix B.
The project involves widening an existing roadway from four lanes to six lanes and expanding bicycle
facilities, but would not add any land uses that would generate additional vehicle trips. The project,
however, has the potential to alter travel patterns in the area and thus result in a change in air
pollutant /greenhouse gas (GHG) emissions relative to existing conditions. In addition, construction
of the project would emit air pollutants and GHGs.
Current Regulatory Environment
The Clean Air Act requires the United States Environmental Protection Agency (US EPA) to set
National Ambient Air Quality Standards (NAAQS) for air pollutants considered harmful to human
health or the environment. The California Air Resources Board (CARB) has also adopted the
California Ambient Air Quality Standards (CAAQS). Federal and state air quality standards in the Bay
Area are regulated by the Bay Area Air Quality Management District (BAAQMD). Pursuant to the
Clean Air Act, BAAQMD is required to reduce emissions of criteria pollutants in which the Bay Area is
in non - attainment.
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The Bay Area is considered a non - attainment area for ground -level ozone and fine particulate matter
(PM2.5) under both the Federal Clean Air Act and the California Clean Air Act. The area is also
considered non - attainment for respirable particulates or particulate matter with a diameter of less
than 10 micrometers (PM10) under the California Clean Air Act, but not the federal act. The area has
attained both state and federal ambient air quality standards for carbon monoxide.
In June 2010, the BAAQMD Board of Directors adopted new CEQA thresholds of significance as part
of a larger BAAQMD CEQA Guidelines document. In subsequent litigation, the BAAQMD CEQA
Guidelines were determined to be a project under CEQA; BAAQMD was duly ordered to rescind the
thresholds underlying the guidelines pending completion of environmental review per CEQA. The
preparers of the Air Quality and Greenhouse Gas Emission Assessment have reviewed the evidence
used to formulate the BAAQMD CEQA Guidelines including BAAQMD's May 2010 staff report
recommending the adoption of the thresholds and its attachments, and conclude that substantial
evidence supports the use of BAAQMD's 2010 thresholds of significance as thresholds of significance
for air quality and greenhouse gas impacts in this IS /MND.6
Sensitive Receptors
"Sensitive receptors" are land uses that are of particular concern when analyzing the potential
effects of the project. Persons who are more likely to be affected by air pollution include children
under 14, the elderly over 65, athletes, and people with cardiovascular and chronic respiratory
diseases. Locations that may contain a high concentration of these sensitive population groups
include residential areas, hospitals, daycare facilities, elder care facilities, elementary schools, and
parks. The closest sensitive receptors are the residences located on the west side of Dougherty
Road, roughly 30 feet from the project site.
a) Conflict with or obstruct implementation of the applicable Air Quality Attainment Plan or
Congestion Management Plan?
No Impact. The most recent clean air plan is the Bay Area 2010 Clean Air Plan that was adopted by
BAAQMD in September 2010. The project would not conflict with the latest clean air planning
efforts since (1) the project would have emissions well below the BAAQMD thresholds (see Impact
C), and (2) the project has been planned as a transportation improvement project that is included in
the Circulation Element of the City's General Plan and the 2012 -2017 Capital Improvement Program.
No impact would occur and no mitigation is required.
6 BAAQMD's CEQA Guidelines and May 2010 staff report are available for review at
<http: / /www.baagmd.gov/ Divisions /Planning- and - Research /CEQA- GUIDELINES.aspx >.
$ S 'Ii,l,(:i o[1 gheily l,o ,(:i YY1i.tYr �!4 YY1� Y1I�
b) Violate any air quality standard or contribute substantially to an existing or projected air
quality violation?
Less - than - Significant Impact. As demonstrated below and in Appendix B, the project would have
emissions below significance thresholds adopted by BAAQMD for evaluating impacts to ozone and
particulate matter. As discussed in Impact C below, the project would not contribute substantially to
existing or projected violations of those standards.
Carbon monoxide emissions from traffic generated by the project would be the pollutant of greatest
concern at the local level. Congested intersections with a large volume of traffic have the greatest
potential to cause high - localized concentrations of carbon monoxide. Air pollutant monitoring data
indicate that carbon monoxide levels have been at healthy levels (i.e., below state and federal
standards) in the Bay Area since the early 1990s. As a result, the region has been designated as
attainment for the standard.
There is an ambient air quality monitoring station in Livermore that measures carbon monoxide
concentrations. The highest measured level over any 8 -hour averaging period during the last 3 years
is less than 2 parts per million (ppm), compared to the ambient air quality standard of 9.0 ppm. The
roadways affected by the project have relatively low traffic volumes compared to the busier
intersections in the Bay Area. BAAQMD screening guidance indicates that projects would have a less
than significant impact to carbon monoxide levels if project traffic projections indicate traffic levels
would not increase at any affected intersection to more than 44,000 vehicles per hour. The
intersections affected by the project have much lower traffic volumes (less than 10,000 vehicles per
hour). The change in traffic caused by the project would be minimal and the project would not cause
or contribute to a violation of an ambient air quality standard.
Therefore, impacts to air quality standards or contribution to air quality violations would be less -
than- significant and no mitigation is required.
c) Result in a cumulatively considerable net increase of any criteria pollutant for which the
project region is non - attainment under an applicable federal or state ambient air quality
standard (including releasing emissions which exceed quantitative thresholds for ozone
precursors)?
Less - than - Significant Impact. Construction and operational phases of the project have the potential
to result in an increase in air pollutant emissions relative to existing conditions.
As described under project setting above, the Air Quality and Greenhouse Gas Emission Assessment
report considers the thresholds and methodologies from BAAQMD's May 2011 CEQA Air Quality
Guidelines to be supported by substantial scientific evidence uses these thresholds to determine the
potential impacts of the project on the existing environment.
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Construction Period Emissions
A computer model was used to estimate air pollutant emissions resulting from anticipated project
construction activities, equipment, and duration.' The results of this modeling are summarized
below; please see Appendix B for additional detail. The modeling conservatively assumed that all
construction activities would be compressed into a single 6 -month period. A shorter construction
period would normally result in more intense, concentrated air quality impacts on both a daily and
annual basis.
Emissions from the project would result primarily from on -site operation of construction equipment
(off -road equipment) and from trucks hauling soil or paving material. Construction will occur within
two to three phases across one or two construction seasons (April 1 to October 31, or seven
months). The on -site equipment (including signal boards, rubber -tired dozers, scrapers, excavators,
graders, rubber -tired loaders, plate compactors, backhoes, pavers, rollers, and water trucks) and
anticipated phasing information were input to the computer model.
In order to compute average daily emissions, total emissions were divided by the entire construction
period (assumed to be 6 months or 120 working days). Average daily emissions are compared
against BAAQMD thresholds. Table 1 provides a summary of the total annual and average daily
criteria pollutant emissions from project construction activities, along with a comparison to the
BAAQMD significance thresholds. As shown in Table 1 below, emissions of all pollutants are below
the BAAQMD significance thresholds. If the project were to be constructed in phases over multiple
years and not condensed into 6 months, daily and annual emissions levels would be less
concentrated and thus lower still than the levels predicted for a single 6 -month period. Therefore,
impacts related to net increase of criteria pollutants related to construction period emissions would
be less- than - significant and no mitigation is required.
' For projects of this type, the BAAQMD recommends use of the Sacramento Metropolitan Air Quality
Management District's Road Construction Model Version 6.3.2 (Road Mod). The Road Mod model uses
CARB's OFFROAD model to compute emissions from construction equipment. Road Mod takes into
account hours of operation, load factor, and emission factors for each piece of equipment. The model
default values were used for computing exhaust emissions rates with the exception that load factors for
equipment usage were reduced by 33 percent to be consistent with CARB's OFFROAD2010 modeling
methodologies.
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Table 1. Construction Period Emissions
Scenario
ROG
NOx
PM10
PMi.s
Annual Emissions (tons per year)
0.3
2.3
0.1
0.1
BAAQMD Thresholds (tons per year)
10
10
15
10
Exceed Threshold?
No
No
No
No
Average Daily Emissions (pounds per
day)
5.0
38.3
1.7
1.7
BAAQMD Thresholds (pounds per day)
54
54
82
54
Exceed Threshold?
No
No
No
No
Source: BAAQMD 2010, Illingworth & Rodkin, Inc., 2012
Operational Period Emissions
The project would not generate new vehicular trips but would increase roadway capacity and alter
traffic patterns as a result of access changes to side streets and individual properties. As a result,
traffic and air pollutant emissions would change relative to existing conditions.
A separate computer model was used to estimate with - project daily exhaust emissions from vehicle
trips on the project site.$ As shown in Tables 2 and 3 below, the net increase in emissions from the
Existing condition to both the Existing Plus Project condition and the Far -Term Plus Project condition
8 The modeling involved the use of weighted emissions factors from CARB's EMFAC 2011 for the county -
average vehicle fleet year projected in 2012 (for Existing and Existing Plus Project conditions) and 2025
(for the Far -Term Plus Project condition). Project traffic data was obtained from the project traffic report.
On the project site, p.m. peak -hour trips were found to be higher in volume than their a.m. counterpart.
The relative percentage of p.m. peak -hour trip volumes to project site average daily traffic (ADT) was
calculated to be 9.3 percent based on counts conducted in February 2012. For each condition, the
number of p.m. peak -hour trips per roadway segment (i.e., Sierra Lane to Scarlett Drive) in each direction
was multiplied by the length of that segment and divided by 9.3 percent to get vehicle miles traveled
(VMT). VMT was then multiplied by the EMFAC2011 weighted emissions factor for each criteria pollutant
to determine project emissions.
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would be below the established significance thresholds.9 Therefore, impacts related to net increase
of criteria pollutants related to operational period emissions would be less- than - significant and no
mitigation is required.
Table 2. Daily Air Pollutant Emission Changes from Operation of the Project (pounds /day)
Scenario
ROG
NOx
PM10
PMi.s
Existing
14.9
111.5
2.7
2.5
Existing Plus Project
15.0
112.1
2.7
2.5
Maximum Net Increase
0.1
0.6
0.0
0.0
Doily Emission Thresholds
54
54
82
54
Exceed Threshold?
No
No
No
No
Far -Term Plus Project
7.6
47.3
1.2
1.1
Maximum Net Increase
-7.3
-64.2
-1.5
-1.4
Doily Emission Thresholds
54
54
82
54
Exceed Threshold?
No
No
No
No
Source: BAAQMD 2010, Illingworth & Rodkin, Inc., 2012
9 Emission calculations are shown in Attachment 2 of Appendix B.
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Table 3. Annual Air Pollutant Emission Changes from Operation of the Project (tons /year)
Scenario
ROG
NOx
PM10
PMi.s
Existing
2.7
20.4
0.5
0.5
Existing Plus Project
2.7
20.5
0.5
0.5
Maximum Net Increase
0.0
0.1
0.0
0.0
Annual Emission Thresholds
10
10
15
10
Exceed Threshold?
No
No
No
No
Far -Term Plus Project
1.4
8.6
0.2
0.2
Maximum Net Increase
-1.3
-11.8
-0.3
-0.3
Daily Emission Thresholds
54
54
82
54
Exceed Threshold?
No
No
No
No
Source: BAAQMD 2010, Illingworth & Rodkin, Inc., 2012
cl) Expose sensitive receptors to substantial pollutant concentrations?
Significant Unless Mitigation Incorporated. Both construction and operational activities have the
potential to expose sensitive receptors to substantial pollutant concentrations. Sensitive receptors
are defined in the Project Setting above. The closest sensitive receptors are residential land uses
located approximately 30 feet from the project site.
Construction
Construction activities are projected to be completed in two to three phases, across one or two
construction seasons. Operations would not be intensive and would not require the use of large
construction equipment for extended periods of time that could expose sensitive receptors to
unhealthy air pollutant levels. There would be demolition of the existing roadway and some site
grading, which is typically the greatest cause of construction period emissions. As indicated above,
emissions would be below the BAAQMD thresholds and are not expected to cause adverse impacts
to nearby sensitive receptors. The types of construction activities proposed and relative short
duration of these activities would not cause significant exposures to TACs or PM2.5. However, best
management practices are necessary during demolition, trenching, and grading activities to avoid
generation of dust that may affect nearby sensitive receptors. Best management practices for
controlling construction period air pollutant emissions are identified in Mitigation Measure AQ -1.
JC1
Mitigation Measure AQ -1: During demolition or any construction ground disturbance,
implement measures to control dust and exhaust. The contractor shall implement the
following Best Management Practices, which are recommended by BAAQMD and are
required of all projects:
1. All exposed surfaces (e.g., parking areas, staging areas, soil piles, graded areas, and
unpaved access roads) shall be watered two times per day.
2. All haul trucks transporting soil, sand, or other loose material off -site shall be covered.
3. All visible mud or dirt track -out onto adjacent public roads shall be removed using wet
power vacuum street sweepers at least once per day. The use of dry power sweeping is
prohibited.
4. All vehicle speeds on unpaved roads shall be limited to 15 mph.
5. All roadways, driveways, and sidewalks to be paved shall be completed as soon as
possible. Building pads shall be laid as soon as possible after grading unless seeding or soil
binders are used.
6. Idling times shall be minimized either by shutting equipment off when not in use or
reducing the maximum idling time to 5 minutes (as required by the California airborne toxics
control measure Title 13, Section 2485 of California Code of Regulations [CCR]). Clear
signage shall be provided for construction workers at all access points.
Significance after mitigation: Mitigation Measure AQ -1 would reduce the air quality impacts
associated with grading and construction to a less- than - significant level.
'f.I
Operation
Operation of the project would include increased mobile sources of TACs (vehicles along Dougherty
Road) that would generate air pollutant emissions. The BAAQMD provides screening tables that
indicate predicted community risk impacts that roadways pose. These tables were used to develop
screening level estimates of cancer risk and PM2.5 concentrations. Note that the screening tables
published by BAAQMD indicate that non - cancer hazards (acute and chronic) from traffic would be
well below the BAAQMD thresholds. A project would result in a significant impact if project
emissions of TACs or PM2.5 cause an existing sensitive receptor to be exposed to levels that exceed
any of the thresholds of significance listed below.
• An excess cancer risk level of more than 10 in 1 million, or a non - cancer (chronic or acute)
hazard index greater than 1.0.
• An incremental increase of more than 0.3 micrograms per cubic meter (pg /m3) annual
average PM2.5.
Existing and future average daily traffic (ADT) along Dougherty Road was predicted by dividing the
highest volume roadway segment by 9.3 percent (the percentage p.m. peak hour traffic volumes
compared to ADT on the project site). For the Existing condition, this was found to be 34,742 vehicle
trips per day. For the Far -Term Plus Project condition, ADT was found to be 47,484 vehicle trips per
day in 2025.
A review of the screening tables for the project indicate that cancer risk and PM2.5 levels under the
Far -Term Plus Project condition would be 11.4 and 0.5 pg /m3, respectively, at a distance of 50 feet.
The cancer risk and PM2.5 levels under the Existing condition are 8.1 and 0.3 pg /m3, respectively, at a
distance of 50 feet. Therefore, the increase in excess cancer risk for the Far -Term Plus Project
condition would be 3.3 and the incremental PM2.5 increase would be 0.2 pg /m3, which are both
below the respective significance thresholds. This screening approach is very conservative, because
it applies current projections of cancer risk and PM2.5 exposure to future traffic volumes. Given
regulatory requirements for cleaner fuels and more efficient engines, emissions of TACs and PM2.5
are expected to decrease substantially in the future.
Therefore, project operations would be expected to have a less- than - significant impact with regard
to exposing sensitive receptors to substantial pollutant concentrations. No mitigation is required.
e) Create objectionable odors affecting a substantial number of people?
Less than Significant Impact. Construction activities may cause localized odors that would be
temporary and are not anticipated to result in frequent, long -term odor complaints. Operation of
the project would not generate odors that would result in confirmed odor complaints. In all, the
project would result in less- than - significant impacts related to odors. No mitigation is required.
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22
Duughe�yRuad�mpruvements
IV. Biological Resources
Would the project
a) Have a substantial adverse effect, either
directly or through habitat modifications, on any
species identified as candidate, sensitive, or
special status species in local or regional plans, ❑ ® ❑ ❑
policies, regulations, or by the California
Department of Fish and Game or U.S. Fish and
Wildlife Service?
b) Have a substantial adverse effect on any
riparian habitat or other sensitive natural
community identified in local or regional plans,
policies, regulations, or by the California ❑ ❑ ® ❑
Department of Fish and Game or U.S. Fish and
Wildlife Service?
c) Have a substantial adverse impact on
federally protected wetlands as defined by
Section 404 of the Clean Water Act (including
but not limited to: marsh, vernal pool, coastal, ❑ ❑ ❑ ❑
etc.) through direct removal, filling, hydrological
interruption, or other means?
d) Interfere substantially with the movement of
any native resident or migratory fish or wildlife
species or with an established resident or
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migratory wildlife corridors, or impede the use
of native wildlife nursery sites?
e) Conflict with any local policies or ordinances
protecting biological resources, such as a tree
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preservation policy or ordinance?
f) Conflict with the provisions of an adopted
Habitat Conservation Plan, Natural Conservation
Community Plan, or other approved local,
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Regional, or state habitat Conservation plan?
Project Setting
A Biological Study for the project was conducted by Garcia and Associates in July 2012 and was
revised in October 2012. The report is included as Appendix C. The study identified biological
resources within the project area utilizing information from multiple sources, including the California
2
Natural Diversity Database (CNDDB), United States Fish and Wildlife Service's (USFWS) Species List
Generator, USFWS Critical Habitat Portal, and California Native Plant Society (CNPS) Inventory of
Rare and Endangered Plants.
The USFWS species list for the project study area includes ten species, listed below, with a moderate
or high potential to occur within the project study area. The Biological Study reviewed impacts per a
defined "biological study area," which is referred to as the "project study area" in this section. The
project study area includes the entire project site plus additional buffer space on the east side of
Dougherty Road. The project would only expand paved roadway width by adding lands from the
east side of Dougherty Road.
Potential Special- Status Plant Species in the Project Study Area
• Congdon's tarplant (Centromadia parryi ssp. congdonii)
• Diablo helianthella (Helianthella castanea)
• Large - flowered fiddleneck (Amsinckia grandiflora)
Potential Special- Status Wildlife on the Project Study Area
• California red - legged frog (Rana draytonii)
• California tiger salamander (Ambystoma californiense)
• Western pond turtle (Emys marmorata)
• Burrowing owl (Athene cunicularia)
• Tricolored blackbird (Agelaius tricolor)
• California horned lark (Eremophila alpestris actia)
• White - tailed kite (Elanus leucurus)
• Migratory birds (nesting)
• American badger (Taxidea taxus)
• San Joaquin kit fox (Vulpes macrotis mutica)
A search of the USFWS critical habitat mapper (2012 USFWS Critical Habitat Portal) indicates that no
designated critical habitat lies within the project study area. According to the USFWS Wetland
Inventory, no wetlands occur within the project study area. In addition, no sensitive plant species
were observed within the project study area, nor does the City of Dublin participate in any Habitat
Conservation Plan. Along the east side of Dougherty Road, east of the bicycle path is a constructed
earthen berm that acts as an informal physical and visual barrier between Dougherty Road and Camp
Parks. The berm extends from the northern end of the project study area south to the intersection
of Dougherty Road and North Avenue. Between the bicycle path and Dougherty Road is a drainage
swale that is approximately 45 feet wide. The berm and swale are vegetated with non - native annual
grasslands and include some bare patches and gravel fill.
The plan for widening Dougherty Road includes converting approximately 45 feet of the swale's
width to roadway — and 50 feet of the swale where the two turn lanes will be added — and
maintaining the remainder as a drainage feature for the road.
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4
There are approximately 100 young western sycamore trees in the project study area along the
eastern edge of Dougherty Road between the bike trail and the berm. Although the western
sycamores are native to California, these trees were planted for landscaping purposes, but can
nonetheless provide nesting habitat for protected bird species.
There is a freshwater marsh at the north end of the project study area, just south of the Fall Creek
Road intersection on the east side of Dougherty Road. A natural drainage extends from Camp Parks
into the project study area, and it is in a culvert section as it passes under the existing bike path.
Above the inlet to the culvert, a small (0.24 acre) area of freshwater marsh occurs. Common
freshwater marsh vegetation, such as hardstem bulrush marsh and cattail marshes may be found.
Common wildlife that could be expected to occur in freshwater marsh habitat includes passerine
birds and Pacific chorus frogs. Freshwater marsh habitat can also provide nesting habitat for birds in
stands of tule or cattail.
a) Have a substantial adverse effect, either directly or through habitat modifications, on any
species identified as candidate, sensitive, or special status species in local or regional plans,
policies, regulations, or by the California Department of Fish and Game or U.S. Fish and
Wildlife Service?
Potentially Significant Unless Mitigation Incorporated. The CNDDB, the USFWS' Species List
Generator, and the CNPS Inventory of Rare and Endangered Plants were reviewed for the project
study area and surrounding 5 -mile radius to document occurrence of special- status species in the
project study area and to determine their location relative to the project study area. None of the
plants found through these searches have a federal or state listing status. No sensitive plant species
were observed in the project study area during the habitat assessment.
The berm and swale between the bike path and Camp Parks on the east side of Dougherty Road are
vegetated with non - native annual grasses, which cover approximately 56 percent of the project
study area. Previous earthmoving on the project study area to create the berm and roadway has
degraded the soils and grassland, which make the annual grassland within the project study area
unsuitable for rare plants. Thus, the project would not result in any impacts to special- status plant
species.
Based on the CNDDB and the USFWS' Species List Generator review, several special- status wildlife
species have been documented on or within 5 miles of the project study area including California
red - legged frog, California tiger salamander, Western pond turtle, Burrowing owl, Tricolored
blackbird, California horned lark, White - tailed kite, Migratory birds (nesting), American badger, and
San Joaquin kit fox.
The biological analysis concluded that the project would have potentially significant impacts to the
following animal species because of physical observation or the presence of suitable habitat:
• California Red - legged Frog
• California Tiger Salamander
• Western Pond Turtle
• Burrowing Owl
• Tricolored Blackbird
• California Horned Lark
• White - tailed Kite
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• Nesting Birds
• American Badger
• San Joaquin Kit Fox
Each of these species is discussed in greater detail below.
Mitigation Measure 1310 -1 would reduce project impacts to all potentially- impacted species
discussed below.
Mitigation Measure 1310 -1: Biological Training and Best Practices
• Prior to the start of construction, a qualified biologist shall conduct an environmental
training session (Worker's Environmental Awareness Program) for all construction
personnel. The training shall include a description of the listed species with potential to
occur on the project study area, a report of the occurrence of the species on the project
study area, their habitats, an explanation of the status of the species and their
protection under the Endangered Species Act, and the avoidance and minimization
measures that are being implemented to reduce impacts to the species on -site. A fact
sheet conveying this information shall be prepared for all personnel associated with the
project and for anyone else who may enter the site. On completion of training,
employees shall sign a form stating that they attended the training and understand all
the conservation and protective measures.
• During project activities, all trash that may attract predators shall be properly contained,
removed from the site, and disposed of regularly. Following construction, all trash and
construction debris from the site shall be removed.
• All fueling and maintenance of vehicles and other equipment and staging areas shall
occur at least 100 feet (30.5 meters) from any riparian habitat, water body, or drainage
feature. The construction contractor shall ensure contamination of habitat does not
occur during such operations.
• Prior to the start of construction, the construction contractor shall prepare a plan to
ensure a prompt and effective response to any accidental spills. All workers shall be
informed of the importance of preventing spills and of the appropriate measures to take
should a spill occur.
• Best management practice (BMP) erosion control measures shall be implemented to
reduce sedimentation in wetland habitat occupied by covered animal and plant species
when activities are the source of potential erosion problems. Plastic mono - filament
netting or similar material for erosion control shall not be permitted. Acceptable
substitutes include coconut coir matting or tackified hydroseeding compounds.
Significance after mitigation: Implementation of Mitigation Measure 1310 -1, in combination with
additional biological mitigation measures below, would reduce project impacts to all potentially
impacted species discussed below to a less- than - significant level.
California Red - legged Frog
California red - legged frog breeding populations have been documented within 2 miles of the project
study area, which is within the dispersal distance for this species. The project study area, however,
does not provide suitable breeding habitat and Dougherty Road and residential neighborhoods to
the west are partial barriers to movement through the project study area. However, the freshwater
2f
marsh at the northern end of the project study area may be suitable for temporary refuge during
migration. In addition, ground squirrel burrows that occur in the swale and berm are suitable for
temporary refuge. Notwithstanding the low probability of the occurrence of California red - legged
frogs, the habitat in the Swale and berm is generally suitable for their summer hibernation. Although
occurrence of California red - legged frogs within the project study area is unlikely and potential
impacts are limited, construction where ground squirrel burrows occur in the Swale and berm may
adversely affect California red - legged frogs through permanent impact to potential summer
hibernation habitat.
Mitigation Measure BI0-2 incorporates all pertinent CRLF avoidance and minimization measures
from the Programmatic Formal Endangered Species Act Consultation on Issuance of Permits under
Section 404 of the Clean Water Act or Authorizations under the Nationwide Permit Program for
Projects that May Affect the California Red - legged Frog (hereafter referred to as the CRLF PBO
(California Red - legged Frog Programmatic Biological Opinion); USFWS 1999a). In some cases, the
measures are tailored to be more project- specific. Notably, measures to avoid and minimize impacts
to the CRLF will also serve to avoid and /or minimize potential impacts to California tiger salamander
(CTS) and San Joaquin kit fox.
Mitigation Measure BI0-2:
• A qualified biologist shall conduct a visual encounter survey for California red - legged
frogs at the work sites two weeks before the onset of activities and again immediately
prior to commencing ground- disturbing activities.
• An environmentally sensitive area (ESA) and exclusion zone shall be established around
the freshwater marsh on -site by a qualified biologist. The ESA and exclusion zone shall
be fenced with erosion control fencing (in a manner consistent with Mitigation Measure
BI0-1) and marked with high visibility fencing. The exclusion zone shall encompass the
maximum practicable distance from the work site and the aquatic feature (wet or dry).
• As the work site is within the typical dispersal distance of potential breeding habitat,
barrier fencing shall be constructed around the worksite to prevent amphibians from
entering the work area. Barrier fencing shall be removed within 72 hours of completion
of work.
• A qualified biologist shall be present for initial ground- disturbing activities. The biologist
shall have authority to stop any work that may result in impacts to CRLF. If the biologist
exercises this authority, the USFWS and the CDFGW10 will be notified by telephone and
electronic mail within 2 working days.
io As of January 1, 2013, the California Department of Fish and Game officially changed its name to
"California Department of Fish and Wildlife" and is referenced in this document as "California
Department of Fish and Wildlife" or "CDFW." <http:// www. dfq .ca.gov /aboutlnamechange.htmi>
Accessed January 3, 2012.
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7
• If CRLF are encountered in the project area, work within the immediate vicinity shall
cease immediately and the City shall engage a qualified biologist possessing a valid ESA
Section 10(a)(1)(A) permit or is Service - approved under an active biological opinion.
Based on the professional judgment of the biologist, if project activities can be
conducted without harming or injuring the CRLF, the individual(s) shall be left at the
location of discovery and monitored by the biologist. All project personnel shall be
notified of the finding and at no time shall work occur within the vicinity of the listed
species without a biological monitor present. If it is determined by the biologist that
relocating the CRLF is necessary, the USFWS will be contacted to consult regarding
translocation outside of the project area.
• No monofilament plastic shall be used for erosion control.
• The construction contractor shall implement Best Management Practices (BMPs) to
control erosion during and after project implementation. "
• Construction personnel shall inspect open trenches each morning and evening of
construction for any trapped CRLF.
• Work shall be avoided within suitable habitat areas from October 15 (or the first
measurable fall rain of 1 inch or greater) to May 1.
Significance after mitigation: Implementation of Mitigation Measures BI0-1 and BI0-2 would
reduce project impacts to the California red - legged frog to a less- than - significant level.
California Tiger Salamander
California tiger salamander CTS breeding populations have been recorded within 2 miles of the
project study area on Camp Parks property. However, the closest known occurrence of breeding
ponds is located over 1.3 miles from the project area. This distance is greater than the dispersal
distance for most individuals. a4;4 Dougherty Road and residential neighborhoods to the west are
partial barriers to movement of GalifeF^i ^^r ,^'ai;;aR '^r ^FF CTS from Camp Parks through the
project study area. The freshwater marsh is not suitable for breeding but may be suitable for
temporary refuge during migration. Although the project study area is at the far end of the expected
range for dispersal from breeding ponds in Camp Parks, ground squirrel burrows in the swale and
berm may be suitable for ,..w w hibe-FRatieR aestivation. Notwithstanding the low probability of
occurrence of CTS GalifeFRia tigeF s^'aicnaA eF this habitat is generally suitable for aestivation the,*
ii As discussed in Section IX, Hydrology and Water Quality, Best Management Practices are included in
the City of Dublin's NPDES permit.
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Although occurrence of CTS Gal ifeF^i ^^r s^'ai;gaR er within the project study area is unlikely and
potential impacts are limited, construction where ground squirrel burrows occur in the swale and
berm may adversely affect CTS GalifeF^i ^^r s^'ai;gaR er through permanent impact to potential
aestivation habitat or temporary impacts to migrants. Recommended
mitigation measures for CTS are outlined below and are consistent with avoidance and mitigation
measures of the East Alameda County eConservation Strategy (EACCS 2010). Implementation of
Mitigation Measure BI0-3 would avoid or reduce potential impacts to California tiger salamander.
Mitigation Measure BI0-3:
Pre - Construction Activities
• Prior to the initiation of construction, the City shall obtain an incidental take permit
(ITP) from the CDFW. Any additional conditions set forth in the ITP to avoid or minimize
impacts to CTS shall be incorporated into the project.
• A qualified biologist shall conduct a pre- construction survey in the immediate area of
construction and where equipment will be located and construction activities will occur
Pre-
construction survey methodology will conform to that specified in the above -
referenced ITP.
• An environmentally sensitive area (ESA) and exclusion zone shall be established around
the freshwater marseh on -site by a qualified biologist. The ESA and exclusion zone shall
be fenced with erosion control fencing (in a manner consistent with Mitigation Measure
BI0-1) and marked with high visibility fencing. The exclusion zone shall encompass the
maximum practicable distance from the work site the aquatic feature (wet or dry).
• Prior to initiating project construction activities, the City shall install temporary
exclusion fencing between the project area and habitat in Camp Parks. The City shall
coordinate with Camp Parks to install permanent exclusion fencing on the existing
fence between Camp Parks and Dougherty Road, as feasible. Permanent exclusion
fencing would be installed at the completion of construction activities, or temporary
exclusion fencing would be made permanent.
Activities During Construction
• A qualified biologist shall be present for initial ground- disturbing activities. The biologist
shall have the authority to stop any work that may result in impacts to CTS. If the
biologist exercises this authority, the USFWS and the CDF4W shall be notified by
telephone and electronic mail within 2 working days.
• If CTS are encountered in the project area, work within the immediate vicinity shall
cease immediately and the City shall engage a qualified biologist pessessmg a aliel «"
-Rased- A- -A the ^r ^F^«ieRal 6idg,,.,^„+ of the biologist to determine if project activities
can be conducted without harming or injuring the CTS, in which case the individual(s)
shall be left at the location of discovery and monitored by the biologist. All project
personnel shall be notified of the finding and at no time will work occur within the
vicinity of the listed species without a biological monitor present. USFWS and CDFW
shall be notified and determination shall be made as to the method of relocation, if
necessary. At no time shall CTS be handled without an ITP from CDFW. If it L;
2 ,
• No monofilament plastic shall be used for erosion control.
• Construction personnel shall inspect open trenches each morning and evening of
construction for trapped CTS.
• To control erosion during and after project implementation, the construction contractor
will implement Best Management Practices (BMPs).12
• Work will be avoided within suitable habitat during the rainy season as recommended
in the East Alameda County Conservation Strategy (EACCS 2010), from October 15 (or
the first measurable fall rain of 1 inch or greater) to May 1, or as otherwise determined
in the ITP.
Significance after mitigation: Implementation of Mitigation Measures B1O -1 and B1O -3 would
reduce potential impacts to the California tiger salamander to a less- than - significant level.
Western Pond Turtle
Recent records of Western Pond Turtles have been found within 1 mile of the project study area,
along the natural watercourse on Camp Parks. The freshwater marsh at the north end of the project
study area, which will not be directly impacted by the project, is of limited potential use to western
pond turtle due to its small size, ephemeral nature of ponded water, and the existing level of
disturbance. Upland annual grasslands may be suitable for nesting, but there is limited potential for
occurrence due to disturbance. Some of the upland area within 325 feet of the marsh could be
permanently impacted by project activities, potentially affecting this species. Implementation of
Mitigation Measure B1O -4 in combination with Mitigation Measure BI0-1 would avoid or reduce
potential impacts to western pond turtle.
Mitigation Measure-& B1O -4: Prior to construction within the pond and in the 325 -foot
buffer, conduct a visual survey for turtle and /or nests (eggs). Avoid active nests or turtles by
means of installation of an exclusion fence between the freshwater marsh and the work
area or by establishing a buffer of limited construction activity during construction to avoid
impacts to identified nests.
Significance after mitigation: Implementation of Mitigation Measures B1O -1 and B1O -4 would
reduce potential impacts to the western pond turtle to a less- than - significant level.
12 As discussed in section IX. Hydrology and Water Quality, Best Management Practices are included in
the City of Dublin's NPDES permit.
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Burrowing Owl
Records of burrowing owls occur within and around project s44V area. The ground squirrel burrows
in the swale and berm are potentially suitable for nesting. Although the suitability of the habitat in
ground squirrel burrows within the swale is limited due to disturbance and dog walking along the
bike pathways, ground- disturbing activities during construction could adversely affect burrowing
owls through permanent impact to potential nesting habitat and temporary impact to potential
nesting habitat adjacent to the project area. Implementation of Mitigation Measure BI0-5 in
combination with Mitigation Measure BI0-1 would avoid or reduce potential impacts to burrowing
owls.
Mitigation Measure BI0-5: The City will implement measures outlined in the CDFW's Staff
Report on Burrowing Owl Mitigation (CDFW 2012), along with informal consultation with
CDFW, to determine potential effects of the proposed project and the required mitigation.
As a habitat assessment has identified potentially suitable burrowing owl habitat within
the project site (GANDA 2012), prior to project initiation occupancy surveys — as defined in
CDFW's Staff Report on Burrowing Owl Mitigation (2012) — shall be conducted by a
qualified biologist. If burrowing owls are found to occupy burrowing owl habitat in or
adjoining the project area, avoidance and minimization measures will be determined in
consultation with CDFW and may include:
• An impact assessment by a qualified biologist to determine all factors that could
affect burrowing owls, including type and extent of disturbance, duration and
timing of impact, visibility and sensitivity, environmental factors, significance of
impacts, cumulative effects, and mitigation goals.
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• A burrowing owl habitat mitigation plan, based on the results of the impact
assessment, in consultation with and subject to review and approval by CDFW.
• Pre - construction surveys by a qualified biologist of areas within 150 meters (about
492 feet) of the project study area to begin no less than 14 days and no more than
30 days prior to initiating ground disturbance activities to avoid "take" of
burrowing owls and their nests. Pre - construction survey results should be
submitted to CDFW for review and approval.
• Monitoring by a qualified biologist during site disturbance to prevent impacts to
burrowing owls identified during pre- construction surveys.
• Establishing buffer zones, visual screens, or other measures during project
activities to minimize disturbance impacts to nesting sites. Limits of buffers zone
must be clearly marked with signs, flagging, or fencing. Appropriate buffer zones
would be determined in consultation with CDFW. Restricted activity dates and
buffer zones recommended in the CDFW Staff Report on Burrowing Owl Mitigation
(2012) include:
Time of Year
Level of Disturbance
Low
Medium
High
April 1 -Aug 15
200 meters
(about 656 feet)
500 meters
(about 1640 feet)
500 meters
(about 1640 feet)
Aug 16 -Oct 15
200 meters
(about 656 feet)
200 meters
(about 656 feet)
500 meters
(about 1640 feet)
Oct 16 -Mar 31
50 meters
(about 164 feet)
100 meters
(about 328 feet)
500 meters
(about 1640 feet)
Source: CDFW, Staff Report on Burrowing Owl Mitigation, 2012
• Compensatory mitiaation throuah the purchase of credits at an approved
mitigation bank, based on habitat acreage, number of burrows, and burrowing
owls impacted, in areas where buffer zones are not practicable -- particularly due
to access restrictions associated with the proximity of PRFTA —for temporary
and /or permanent impacts to nesting, occupied and satellite burrows, and /or
burrowing owl habitat. Mitigation would be determined in consultation with
CDFW.
• Burrow exclusion, during the non - breeding season to permanently exclude
burrowing owls and close burrows, for areas that may be permanently impacted
by the proposed project. Burrow exclusion and /or closure would be conducted
under a CDFW burrowing owl exclusion plan.
• Site surveillance by a qualified biologist during project activities to detect
burrowing owls that attempt to colonize or re- colonize an area that will be
impacted.
• Restoration of temporary habitat impacts within the proposed project area to pre-
project conditions.
Significance after mitigation: Implementation of Mitigation Measures B10 -1 and B10 -5 would
reduce potential project impacts to the burrowing owl to a less- than - significant level.
2
Other Protected Bird Species
Tricolored blackbirds: Records were found for tricolored blackbirds within 2 miles of the project
study area. It can also be inferred from the close proximity of known occurrences for this species,
along with the presence of suitable habitat that this species may occur within the project study area.
The suitable habitat is limited to the freshwater marsh and dense stands of vegetation that may
occur along the berm, but it is unlikely to be utilized as a nesting location because the water is
ephemeral and the species is an extremely rare nesting bird in Alameda County
California Horned Lark: Several records were found for California horned larks within a 5 -mile radius
of the project study area. Because of the existence of suitable nesting habitat and known
occurrences in the area, it is possible that California horned larks could occur within the project
study area. The vegetation found throughout the swale is too sparse for nesting habitat; therefore,
any disturbance to this species is expected to be limited to unmowed areas of the berm on the east
side of the project study area.
White - tailed Kite: A white - tailed kite was observed by within the project study area during the
habitat assessment on March 27, 2012. Multiple records were also found on white - tailed kites in
areas surrounding the project study area. It is therefore likely that white - tailed kites could occur
within the project study area during project construction and could nest in larger trees within the
project study area or neighboring areas. Any individuals that choose to nest within the developed
area of the project study area, however, are generally tolerant of activities that may occur along the
road as part of construction, and the implementation of avoidance and minimization measures
makes any negative impact from the project unlikely.
Passerine Nesting Birds: Trees, landscape vegetation, and annual grasslands within the project study
area, including vegetation on the berm and in the freshwater marsh, are suitable for nesting birds.
Mitigation Measure BI0-6 in combination with Mitigation Measure BI0-1 would reduce or avoid
potential impacts to these protected bird species.
Mitigation Measure BI0-6:
• To the extent feasible, carry out project construction activities such as tree removal
and /or tree trimming, excavation, grading, and the operation of heavy equipment
between September 1 and January 31, outside of the nesting season, to avoid or
minimize potential impacts to nesting birds.
• If project construction activities must occur during the nesting season (from February 1
to August 31) a qualified wildlife biologist shall conduct pre- construction surveys for
nesting birds. During the surveys, the qualified biologist shall carefully search for active
nests /burrows within the work zone and a surrounding buffer zone.
• If an active nest is found during the pre- construction survey, the bird species shall be
identified and the approximate distance from the closest work site to the nest shall be
estimated. Appropriate buffer distances shall be established by a qualified biologist. If
active nests are closer than the appropriate buffer distance to the nearest work site
then the active nest(s) shall be monitored for signs of disturbance. Disturbance of active
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nests shall be avoided until it is determined that nesting is complete and the young have
fledged.
Significance after mitigation: Implementation of Mitigation Measures BI0-1 and BI0-6 would
reduce potential impacts to nesting birds, including protected avian species, to a less- than - significant
level.
American Badger
Records of American badgers occur within 2 miles of the project study area. Suitable -sized burrows
were observed during a March 2012, field survey of the site. The ground squirrel population on the
berm and swale provides burrows and a prey base for American badger, thus there is a moderate
potential for occurrence for this species within the project study area. The fence along the east side
of the project study area may limit the potential for occurrence of this species. Notwithstanding the
low probability of occurrence of American badgers, any ground- disturbing activity associated with
the project has the potential to destroy occupied dens /burrows and may result in impacts to
American badger. Implementation of Mitigation Measure BI0-7 in combination with Mitigation
Measures BI0-1 would address any impacts to American Badgers potentially occurring on the project
study area during construction.
Mitigation Measure BI0-7:
• Conduct pre- construction surveys for suitable dens /burrows prior to any ground-
disturbing activities.
• All suitable burrows shall be flagged by a qualified biologist and avoided by crews; if
avoidance is not feasible, consultation with California Department of Fish and Game
should occur.
• Avoidance measures may include designation of an exclusion zone around potential
dens during the breeding period (summer through early fall) and hand excavation of
dens during the non - breeding period.
• A qualified biologist shall be present during construction to monitor any activities within
100 feet of an occupied den.
• In addition, the standard recommendations for avoidance and minimization measures
for San Joaquin kit fox are also applicable to American badger (Sacramento Fish and
Wildlife Office 2011).
Significance after mitigation: Implementation of Mitigation Measures BI0-1 and BI0-7 would
reduce potential impacts to the American badger to a less- than - significant level.
San Joaquin Kit Fox
Records of San Joaquin kit foxes occur within 2 miles of the project study area. The ground squirrel
population on the swale and berm provides both burrows and a prey base for San Joaquin kit foxes,
indicating a moderate potential for the occurrence of this species within the project study area,
However, the existing fence along the east side of the project study area (Camp Parks area) may limit
this potential. Habitat within the project study area is only marginally suitable based on an
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evaluation using the USFWS San Joaquin Kit Fox Habitat Evaluation Form (2001), which indicates that
potential for impacts to San Joaquin kit foxes is minimal.
Any ground- disturbing activity associated with the project has the potential to destroy occupied dens
and may result in impacts to San Joaquin kit foxes. Implementation of Mitigation Measure BI0-8
would address any potential impacts to San Joaquin kit foxes potentially occurring on the project
study area during construction.
Mitigation Measure BI0-8:
• Conduct pre- construction surveys no less than fourteen days and no more than
thirty days prior to the beginning of ground- disturbance and /or construction
activities or any project activity likely to impact the San Joaquin kit fox. Surveys
shall identify kit fox habitat features on the project study area and evaluate use by
kit fox and, if possible, assess the potential impacts to the kit fox by the proposed
activity. If a natal /pupping den is discovered within the project study area or within
200 feet of the project boundary, the USFWS must be notified immediately.
• Exclusion zones around any identified kit fox dens must have radii measured
outward from the entrance. The following are minimums; if they cannot be met
USFWS must be contacted.
• Potential den — 50 feet
• Known den —100 feet
• Natal /pupping den (occupied and unoccupied) — Contact USFWS.
• Atypical den — 50 feet
• Project - related vehicles must observe a 20 -mph speed limit throughout the project
study area, except on county or city roads and state or federal highways. Prohibit
off -road traffic outside of designated project.
• A qualified biologist shall be on -site or on -call during all construction activities that
could impact San Joaquin kit fox. If a kit fox is observed in the work area, the
USFWS- approved biologist shall have the authority to stop work within 100 feet
until the kit fox leaves the area on its own volition. Kit foxes are attracted to den -
like structures such as pipes and may enter stored pipe becoming trapped or
injured. All construction pipes, culverts, or similar structures with a diameter of 4
inches (in.) or greater that are stored at a construction site for one (1) or more
overnight periods shall be thoroughly inspected for kit foxes before the pipe is
subsequently buried, capped, or otherwise used or moved in any way. If a kit fox is
discovered inside a pipe, that section of pipe shall not be moved until USFWS has
been consulted. If necessary, and under the direct supervision of the biologist, the
pipe may be moved once to remove it from the path of construction activity, until
the fox has escaped.
Significance after mitigation: Implementation of Mitigation Measures BI0-1 and BI0-8 would
reduce potential impacts to the San Joaquin kit fox to a less- than - significant level.
b) Have a substantial adverse effect on any riparian habitat or other sensitive natural
community identified in local or regional plans, policies, regulations, or by the California
Department of Fish and Game or U.S. Fish and Wildlife Service?
and
c) Have a substantial adverse impact on federally protected wetlands as defined by Section
404 of the Clean Water Act (including but not limited to: marsh, vernal pool, coastal, etc.)
through direct removal, filling, hydrological interruption, or other means?
Less - than - Significant Impact. No jurisdictional wetlands or waters are located within the project
site. A freshwater marsh is located at the northern end of the project study area, south of the Fall
Creek Road intersection (Appendix C), but is not within the project construction site. This freshwater
marsh may be subject to the jurisdiction of the Regional Water Quality Control Board (RWQCB), the
Army Corps of Engineers under Section 404 of the Clean Water Act, and the CDFGW under Section
1602 of California Fish and Game Code. Freshwater marsh habitat may include sensitive vegetation
including hardstem bulrush marsh and cattail marshes, wildlife such passerine birds and Pacific
chorus frogs, and nesting habitat for birds in stands of tule or cattail. Polluted run -off caused by
operations or construction of the project could impact the sensitive freshwater marsh habitat.
However, as discussed in Section IX., Hydrology and Water Quality, compliance with Municipal
Regional Permit (MRP) requirements, stormwater treatment best management practices (BMPs) and
hydromodification mitigation measures will be included where practicable. The stormwater
treatment BMPs would prevent polluted runoff from impacting the freshwater marsh and other
nearby creeks and canals outside of but influenced by the project study area by promoting
infiltration, retention, and filtration of pollutants and the hydromodification mitigation measures
would allow for metering or detaining run -off. Through compliance with required measures, the
impacts of the project on the freshwater marsh would be less- than - significant. No further mitigation
is required.
d) Interfere substantially with the movement of any native resident or migratory fish or
wildlife species or with an established resident or migratory wildlife corridors, or impede the
use of native wildlife nursery sites?
No impact. The project study area is extensively urbanized and includes several barriers, such as
fencing around Camp Parks, Dougherty Road, and the residential development on the west side of
Dougherty Road, that limit the movement of migratory species and the ability of the area to serve as
a significant wildlife corridor. Thus, there is no major wildlife migration use of project study area and
no wildlife corridors. No impact would occur and no mitigation is required.
e) Conflict with any local policies or ordinances protecting biological resources, such as a tree
preservation policy or ordinance?
No impact. The City of Dublin prohibits removal of heritage trees (Dublin Municipal Code Chapter
5.60 Heritage Trees, Ord. 5 -02 § 2 (part): Ord. 29 -99 § 1 ). The Heritage Tree Ordinance is applicable
to all properties within the city, including private property, residential and nonresidential zones, and
developed and undeveloped land. Heritage trees, as defined by the ordinance, include any oak
(Quercus), bay (Umbellularia Californica), cypress (Cupressaceae), maple (Acer), redwood (Sequoia),
buckeye (Aesculus) or sycamore (Platanus racemosa) with a trunk diameter (at a height of 4 feet 6
inches) of 24 inches or greater. The sycamores that occur in the project study area do not have a
S (':iY
diameter of 24 inches or greater, and therefore would not be classified as heritage trees. Therefore,
the project would not conflict with any local policies protecting biological resources. No impact
would occur and no mitigation is required
f) Conflict with the provisions of an adopted Habitat Conservation Plan, Natural Conservation
Community Plan, or other approved local, Regional, or state habitat Conservation plan?
No impact. The City of Dublin has not adopted and does not participate in any Habitat Conservation
Plan or Natural Conservation Community Plan. However, the project study area is located within the
geographic scope ( "study area ") for the East Alameda County Conservation Strategy (EACCS).13 The
EACCS is not a regulatory mechanism, but provides guidance for project -level permits. It is a
voluntary tool to inform decisions during standard environmental permitting processes for projects
that occur in the study area. As avoidance and minimization measures outlined in this document are
consistent with the goals of the EACCS, the project is not anticipated to conflict with the provisions
of the EACCS. Notwithstanding, the project study area is outside of any Habitat Conservation Plan or
Natural Conservation Community Plan and would therefore have no impact on such plans.
13 ICF International, 2010.
7
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�nitia�Study DuugheilyRuad�mpruvements
V. Cultural Resources
Would the project:
a) Cause a substantial adverse change in
the significance of a historical resource as ❑ ® ❑ ❑
defined in Section 15064.5?
b) Cause a substantial adverse change in
the significance of an archeological
❑
®
❑
❑
resource, pursuant to Section 15064.5?
c) Directly or indirectly destroy a unique
paleontological resource, site, or unique
❑
®
❑
❑
geologic features?
d) Disturb any human remains, including
those interred outside of formal
❑
®
❑
❑
cemeteries?
Project Setting
Qualified historians /archaeologists at William Self Associates (WSA), prepared a cultural resources
evaluation for the project (Appendix D). Their evaluation was based on a records search of the
California Historical Resources Information System (CHRIS) and a pedestrian survey of the project
site and immediate surrounding area.
The project would widen Dougherty Road at its intersection with 5t" Street. Two older
structures /buildings exist at this location — the Camp Parks entrance sign and a guard building. The
cultural resources evaluation concluded that the Camp Parks entrance sign is eligible for listing on
the National Register of Historic Places (NRHP) and the California Register of Historic Resources
(CRHR). The guard building was determined not to be eligible for any federal, state, or local register
of historic resources.
Paleontological resources include but are not limited to plant and animal fossil and material remains.
Certain strata of soils and bedrock are associated with having an increased likelihood of containing
fossils or other paleontological resources. A paleontological resources search performed using the
University of California Museum of Paleontology's (UCMP) Miocene Mammal Mapping Project
S (':iY
3
(MioMap) indicated no previous finds of paleontological resources on or in the immediate vicinity of
the project sites. According to the Miocene Mammal Mapping Project (MioMap) database, the
closest paleontological find is located approximately 5 miles northwest of the project site in the City
of San Ramon. 14
a) Cause a substantial adverse change in the significance of a historical resource as defined in
Section 15064.5?
Potentially Significant unless Mitigation Incorporated. As noted above, the Camp Parks entrance
sign and the guard building at the Dougherty Road and 5t" Street intersection may be impacted by
the project.
The project would entail the demolition of the guard building. Because the guard building is not an
eligible historic resource as defined by Section 15064.5 of the CEQA Guidelines, its demolition does
not result in any impact to cultural resources.
Roadway widening may encroach upon the entrance sign. Because the project's cultural resources
evaluation identified the entrance sign as an eligible historical resource, the sign would be moved if
encroachment should be required. Such movement of the sign would be considered a substantial,
potentially adverse change in the significance of an historical resource and would thus require
mitigation.15 Mitigation Measure CUL -1 would address the potential impact to the potential
movement of the Camp Parks entrance sign.
Mitigation Measure CUL -1: Prior to beginning project - related construction activities, the
Camp Parks entrance sign shall be removed from its original location and relocated in a
setting compatible with the original character and use of the entrance sign. The entrance
sign's new location shall allow the sign to retain its historic features and compatibility in
orientation, setting, and general environment.
Any one of the three options identified below would allow the entrance sign to retain its
eligibility for listing on the federal and state register of historic resources:
• Option 1: Relocate the Camp Parks entrance sign to outside the project site and
closer to Adams Avenue and 5t" Street on the Camp Parks property, 30 to 60 meters
14 MioMap is a database of occurrences of mammals from late Oligocene (Arikarean) through Miocene
(Hemphillian) eras in the United States that is produced and updated by the University of California
Museum of Paleontology. Carrasco, M.A., B.P. Kraatz, E.B. Davis, and A.D. Barnosky. 2005. Miocene
Mammal Mapping Project (MioMap). University of California Museum of Paleontology.
< 7.. t. k:..:.// vvvvvv..:.... c, w77...@ :..:...... ...Y.:...../.w77,i;.0 „w77,<.. @. / >. Accessed June 21, 2011.
15 If the project would not encroach upon /require relocation of the sign, the sign would be allowed to stay
within its historic context and the project would not result in any significant impact to this resource.
$ S 'Ii,l,(:i o[f gheil fir l,o ,(':i YY1i.tYr �!4 YY1� Y1I�
(about 98 to 196 feet) east of its current location. The sign shall be reinstalled in its
original orientation facing Dougherty Road.
Option 2: Relocate the sign to an appropriate new permanent location within the
current or former boundaries of Camp Parks. This new location would be selected
through negotiations between the City of Dublin, the U.S. Army, and any other
responsible or involved parties or entities.
Option 3: Incorporate the sign into the planning of the future development on
Camp Parks lands. This option would require temporary storage of the sign under
stewardship of the City of Dublin, the U.S. Army, or an appropriate non - profit
historic preservation organization, such as the Dublin Historical Preservation
Association, until it can be incorporated into future development on Camp Parks as
outlined in Option 2 above.
Whichever option is implemented, all activity related to the relocation and storage of the
entrance sign shall conform to the standards outlined in the Secretary of the Interior's
Standards for the Treatment of Historic Properties with Guidelines for Preserving,
Rehabilitating, Restoring, and Reconstructing Historic Buildings (Weeks and Grimmer 1995).
CEQA Guidelines §15064.5(b)(3) indicate that, "generally, a project that follows the
Secretary of the Interior's Standards for the Treatment of Historic Properties with Guidelines
for Preserving, Rehabilitating, Restoring, and Reconstructing Historic Buildings or the
Secretary of the Interior's Standards for Rehabilitation and Guidelines for Rehabilitating
Historic Buildings (Weeks and Grimmer 1995), shall be considered as mitigated to a level of
less than a significant impact on the historical resource."
Significance after Mitigation: Implementation of any of the three options embodied within
Mitigation Measure CUL -1 would allow the entrance sign to retain its eligibility for listing on the
federal and state registers of historic resources and would thus reduce all potential impacts to
historic resources to a less- than - significant level.
b) Cause a substantial adverse change in the significance of an archaeological resource,
pursuant to Section 15064.5?
Potentially Significant unless Mitigation Incorporated. The cultural resources evaluation identified
no known archaeological resources in the project site. Project archaeologists further concluded that
there is a low likelihood of encountering any thus far unrecorded resources. Nonetheless, project
construction may potentially uncover unknown or unrecorded archaeological resources. Grading or
other soil- disturbing activities could damage or destroy such unknown /unrecorded archaeological
artifacts. This is a potentially significant impact for which mitigation is required.
Mitigation Measure CUL -2: In the event that unrecorded archaeological resources are
encountered during any phase of project construction, the project contractor shall
temporarily halt construction and /or grading activities within 25 feet of any find until a
qualified archaeologist meeting federal criteria under 36 CFR 61 can assess the significance
of the find and provide proper management and recommendations. A qualified
archaeological monitor shall inspect the findings within 24 hours of discovery. Prehistoric
cultural materials include but are not limited to midden deposits, hearth remains, stone
and /or shell artifacts, and /or burials. Historic material, including but not limited to whole or
fragmentary ceramic, glass or metal objects, wood, nails, brick, or other materials may occur
within the project site in deposits such as old privies, dumps, or as part of earlier fill.
4 J
While prehistoric or historic cultural resources would ideally be avoided, if any such
resources could not feasibly be avoided, they shall be evaluated for their potential historic
significance in consultation with the City of Dublin. If the resources are found to be
ineligible for any historic register, impacts to such resources would not be considered
significant and avoidance would thus not be necessary. If the resources are found to be
eligible to the CRHR, they shall be avoided if feasible.
If avoidance is not feasible, project impacts will be mitigated in accordance with the
recommendations of the evaluating archaeologist and CEQA Guidelines §15126.4 (b)(3)(C),
which require development and implementation of a data recovery plan that would include
recommendations for the treatment of the discovered archaeological materials. The data
recovery plan will be submitted to the City of Dublin for review and approval. Upon
approval and completion of the data recovery program, project construction activity within
the area of the find may resume, and the archaeologist will prepare a report documenting
the methods and findings. The report will be submitted to the City of Dublin. Once the
report is reviewed and approved by the City of Dublin, a copy of the report will be submitted
to the Northwest Information Center (NWIC). After any appropriate resource recovery
and /or mitigation measures are completed, project construction activity within the area of
the find may resume.
Mitigation Measure CUL -3: Prior to the issuance of grading permits, the City of Dublin shall
require that the project contractor provide documentation that all construction crews that
will work on the project have undergone a training session to inform them of the potential
for previously undiscovered archaeological resources within the project site, of the laws
protecting these resources and associated penalties, and of the procedures to follow should
they discover cultural resources during project - related work.
Significance after Mitigation: The implementation of Mitigation Measures CUL -2 and CUL -3 would
reduce the impacts upon archaeological resources to a less- than - significant level.
c) Directly or indirectly destroy a unique paleontological resource, site, or unique geologic
features?
Potentially Significant unless Mitigation Incorporated. No paleontological resources, sites, or
unique geological features have been recorded in or adjacent to the project site. Moreover, the
project involves surface -level soil disturbance and would not involve excavation to a depth where
paleontological resources are typically located. Paleontological resources would be more likely to be
encountered deep grading or excavation activities reached below surficial soils to deeper geologic
layers. Notwithstanding, the potential to encounter unknown paleontological resources on the
project site during grading and construction still exists. This is considered a potentially significant
impact and mitigation is required.
Mitigation Measure CUL -4: In the event that paleontological resources are encountered
during any phase of project construction, all soil- disturbing activity within 100 feet of the
find shall be temporarily halted until a qualified paleontologist can assess the significance of
the find and provide proper management recommendations. The City shall incorporate all
feasible recommendations into the project.
4 2
Significance after Mitigation: Mitigation Measure CUL -4 would reduce the potential for project
impacts to paleontological resources to a less- than - significant level.
d) Disturb any human remains, including those interred outside of formal cemeteries?
Potentially Significant Unless Mitigation Incorporated. Although the project archaeologist found no
records or evidence exist regarding findings of human remains on the project site, ground disturbing
activities associated with all phases of project construction have the potential to disturb previously
unknown /unrecorded human remains, including those interred outside of formal cemeteries.
Throughout most locations within California, there is potential to uncover Native American human
remains. If such remains are discovered during construction activities, it would be necessary to
comply with regulations set forth in California law.
Mitigation Measure CUL -5: Section 7050.5(b) of the California Health and Safety code shall
be implemented in the event that human remains, or possible human remains, are located
during project - related construction excavation. If human remains are discovered within the
project site during construction, all work shall be stopped within 25 feet of the discovery and
the contractor shall immediately notify the Alameda County Coroner. At the same time, a
qualified archaeologist meeting federal criteria under 36 CFR 61 shall be contacted to assess
the situation and consult with the appropriate agencies. If the human remains are of Native
American origin, the Coroner shall notify the Native American Heritage Commission within
twenty -four hours of this identification. The Native American Heritage Commission will
identify a Most Likely Descendant (MLD) to inspect the site and provide recommendations
for the proper treatment of the remains and any associated grave goods. Upon completion
of the assessment, the qualified archaeologist shall prepare a report documenting the
background to the finds, and provide recommendations for the treatment of the human
remains and any associated cultural materials, as appropriate and in coordination with the
recommendations of the MLD. The report shall be submitted to the City of Dublin, the
County of Alameda, and the Northwest Information Center. Once the report is reviewed
and approved by the agencies identified above, and any appropriate treatment completed,
project construction activity within the area of the find may resume.
Significance after Mitigation: Mitigation Measure CUL -5 would reduce potential impacts to
previously unrecorded human remains to a less- than - significant level.
4
�nitia� Study
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44
Duughe�yRuad�mpruvements
V1. Geology and Soils
Would the project:
❑
a) Expose people or structures to potential
❑
substantial adverse effects including the
❑
risk of loss, injury or death involving:
❑
i) Rupture of a known earthquake
❑
fault, as delineated on the most recent
❑
Alquist- Priolo Earthquake Fault Zoning
Map issued by the State Geologist for
❑
the area or based on other substantial
evidence of a known fault?
ii) Strong seismic ground shaking?
iii) Seismic - related ground failure,
including liquefaction?
❑
iv) Landslide?
b) Would the project result in substantial
soil erosion or the loss of topsoil?
❑
c) Be located on a geologic unit or soil that
is unstable, or that would become unstable
as a result of the project, and potentially
result in on or off -site landslide, lateral
❑
spreading, subsidence, liquefaction or
collapse?
d) Be located on expansive soil, as defined
in table 18 -1b of the Uniform Building Code
(1994), creating substantial risks to life or
❑
property?
e) Have soils incapable of adequately
supporting the use of septic tanks or
alternative wastewater disposal systems
❑
where sewers are not available for the
disposal of wastewater?
❑ ❑ ❑
❑
❑
❑
❑
❑
❑
❑
❑
❑
❑
❑
❑
❑ ❑ ❑
❑ ❑ ❑
❑ ❑ ❑
ilf l'T S 'fi,l,o'miY D'ol"1gh '11'y F"'oa"o`m4 YY1C.tYr �!4 YY1� Yif�
Project Setting
Qualified geologists at ENGEO prepared a project geologic evaluation report (Appendix E).
The project site is located between the San Ramon Valley to the west and the Amador Valley to the
southeast. The project site and its immediate surroundings are relatively level with no significant
hills or topography within 1/2 mile in any direction.
The geologic evaluation noted the presence of an active fault trace that crosses under Dougherty
Road between Willow Creek Drive and Wildwood Road. This fault trace has been classified as an
Alquist - Priolo Special Study Zone. The closest major fault to the project site is the Calaveras Fault,
which runs roughly parallel to San Ramon Road more than 1 mile to the west of the project site.
Soils underlying the project site include layers of alluvial gravel, sand, and clay. The geologic
evaluation found that the project site's northern reaches are underlain with loose, gravity- deposited
sediments, which are considered more likely to shift or move, with or without seismic activity.
The project site is located within low to moderate liquefaction zones, with the exception of the area
immediately surrounding Alamo Creek, which is recorded as having a higher risk of liquefaction. 16
a. i) Expose people or structures to potential substantial adverse effects including the risk of
loss, injury or death involving rupture of a known earthquake fault, as delineated on the most
recent Alquist - Priolo Earthquake Fault Zoning Map issued by the State Geologist for the area
or based on other substantial evidence of a known fault?
Less - than - Significant Impact. As noted in the project's geologic evaluation (Appendix E), an active
trace fault designated as an Alquist - Priolo Special Study Zone crosses the current alignment of
Dougherty Road between Willow Creek Drive and Wildwood Road. Given that the project does not
involve the construction of any new buildings or structures and merely widens an existing roadway
already traversed by a special study zone, the project would not result in any substantial risk
exposure to people or structures. Therefore, the project would have a less- than - significant impact
due to exposure of people or structures to earthquake faults. No mitigation is required.
a. ii) Expose people or structures to potential substantial adverse effects including the risk of
loss, injury or death involving strong seismic ground shaking?
Less - than - Significant Impact. Earthquakes along several active faults (referenced above) in the
region could cause moderate to severe ground shaking due to the project site's location in a
seismically active region. Given that the project does not involve the construction of any new
buildings or structures and merely widens an existing roadway within a seismically active region,
16 US Geological Survey, San Francisco Bay Region Geology, Liquefaction Susceptibility Map, August 18,
2006. Accessed July 2012. <i7tt:�: eow77a:�:�s.wr.us s. ov sf eo li uefa:�ctiow� susce.�tikrilit .i7tw771>
Y ................ k.........//. g................................. k............................................. g.......... g.............../.......... g.............../....... q....................................................../................................................................... Y..............................
S 'Ii,l,(:iY o[1 gheily l,o ,(:i YY1i.tYr �!4 YY1� Y1I�
the project would not result in any substantial new seismic ground- shaking risk to people or
structures. Project impacts would thus be less- than - significant. No mitigation is required.
a. iii) Expose people or structures to potential substantial adverse effects including the risk of
loss, injury or death involving seismic - related ground failure, including liquefaction?
Less - than - Significant Impact. The project site is located within low to moderate liquefaction zones,
with the exception of the area immediately surrounding Alamo Creek where there is high
liquefaction hazard potential. The project would not encroach on the Alamo Creek area and the
project geologic evaluation identified no special conditions necessary with regard to liquefaction
potential. Therefore, project risks associated with liquefaction would be less than significant. No
mitigation is required.
a. iv) Expose people or structures to potential substantial adverse effects including the risk of
loss, injury or death involving landslides?
Less - than - Significant Impact. As noted in the project geologic evaluation, the project site and its
immediate surroundings are relatively flat and do not contain steep slopes or hillsides that would be
susceptible to landslides. The existing berm on the eastern edge of the project site is relatively low
and does not constitute any significant landslide risk. Therefore, project risks related to landslides
would be less than significant. No mitigation is required.
b) Would the project result in substantial soil erosion or the loss of topsoil?
Less - than - Significant Impact. The project entails grading and landscaping along the eastern edge of
Dougherty Road, generally between the existing edge of pavement and the top of the existing berm.
This area is currently not paved, with the exception of existing streets into Camp Parks and the
existing pedestrian /bicycle path. When complete, the project would expand the paved width of
Dougherty Road and would landscape substantial areas along the eastern edge, potentially up to the
top of the berm.
Substantial soil erosion or topsoil loss could occur if ground disturbance activities are not carefully
managed. As required for all activities in the city involving substantial earth movement, the project
will be required to implement all feasible BMPs included within the City of Dublin's National
Pollution Discharge Elimination System (NPDES) permit. Adherence to these practices will minimize
the potential for soil erosion or topsoil loss during construction, rendering project impacts to a less-
than - significant level. No mitigation is required.
c) Be located on a geologic unit or soil that is unstable, or that would become unstable as a
result of the project, and potentially result in on or off -site landslide, lateral spreading,
subsidence, liquefaction or collapse?
and
d) Be located on expansive soil, as defined in table 18 -1b of the Uniform Building Code (1994),
creating substantial risks to life or property?
Potentially Significant Unless Mitigation Incorporated. The project geologic evaluation concluded
that potential substantial adverse effects related to landslides would not occur as the project site is
within a topographically flat valley floor, does not contain steep slopes or hillsides susceptible to
S (':iY
4
landslides, nor is the project site not mapped in an area with slope instability. However, the
evaluation noted that the project may traverse soils with high plasticity and relatively low resistivity
values. The evaluation identified mitigation to address potential effects related to soil instability.
Mitigation Measure GEO -1: A qualified geotechnical engineer shall identify appropriate
pavement types for project site soil conditions. The recommendations of the geotechnical
engineer shall be incorporated into final design plans.
Significance after Mitigation: Mitigation Measure GEO -1 would reduce potential impacts related to
unstable soils to a less- than - significant level.
e) Have soils incapable of adequately supporting the use of septic tanks or alternative
wastewater disposal systems where sewers are not available for the disposal of wastewater?
No impact. The project does not entail the installation or use of any septic tanks or wastewater
disposal systems. Therefore, no impact would occur and no mitigation is required.
4,1a
V11. Greenhouse Gas Emissions
Would the project:
a) Generate greenhouse gas emissions,
either directly or indirectly, that may have ❑ ❑ ❑ F-1 a significant impact on the environment?
b) Conflict with an applicable plan, policy
or regulation adopted for the purpose of
reducing the emissions of greenhouse ❑ ❑ ❑ ❑
gases?
Project Setting
An Air Quality and Greenhouse Gas Emission Assessment for the project was conducted by
Illingworth and Rodkin in July 2012. The report is included as Appendix B.
Methodology
As described under Section III Air Quality, Impact C, emissions from construction and operation of
the project were modeled using proposed construction equipment, anticipated phasing information
and project traffic information. These modeling tools provide emissions of carbon dioxide (CO2), the
primary greenhouse gas emitted from construction equipment and trucks and future vehicles on
Dougherty Road.
The Air Quality and Greenhouse Gas Emission Assessment report uses the thresholds and
methodologies from BAAQMD's May 2011 CEQA Air Quality Guidelines to determine the potential
impacts of the project on the existing environment. In June 2010, the BAAQMD Board of Directors
adopted new CEQA thresholds of significance as part of a larger BAAQMD CEQA Guidelines
document. In subsequent litigation, the BAAQMD CEQA Guidelines were determined to be a project
under CEQA; BAAQMD was duly ordered to rescind these Guidelines pending completion of
environmental review per CEQA. The preparers of the Air Quality and Greenhouse Gas Emission
Assessment have reviewed the evidence used to formulate the BAAQMD CEQA Guidelines including
BAAQMD's May 2010 staff report recommending the adoption of the thresholds and its
S (':iY
attachments, and conclude that substantial evidence supports the use of BAAQMD's 2010 thresholds
of significance as thresholds of significance for air quality and greenhouse gas impacts in this
IS /MND.17
This analysis utilized the BAAQMD GHG threshold of 1,100 metric tons of CO2 equivalent (MTCO2e)
to determine whether the project would result in a significant level of GHG emissions.
a) Generate greenhouse gas emissions, either directly or indirectly, that may have a significant
impact on the environment?
Less - than - Significant Impact. Construction Emissions: CO2 emissions from project construction and
hauling activities would be 307 MT of CO2 during the entire construction period, generally regardless
of phasing. The emissions would be below the lowest threshold considered by BAAQMD.
Operational Emissions: Table 4 presents the results of the emissions analysis in terms of annual
metric tons of equivalent CO2 emissions (MT of CO2e /yr) from project operation. These are the daily
emissions occurring along the project portion of the roadway. As shown in Table 4 below, operation
of the Far -Term Plus Project condition minus emissions from the Existing condition would be 990 MT
CO2e /yr. Much of this increase would be caused by cumulative growth in traffic on the project site
that would occur with or without the project. In any case, the increase in emissions over existing
conditions would be less than the threshold of 1,100 MT of CO2e /yr.
Table 4. Annual Project GHG Emissions
Scenario
COze
Existing — 2012
Emissions in metric tons per year
8,812
Existing Plus Project - 2012
Emissions in metric tons per year
8,858
Maximum Net Increase
46
BAAQMD Thresholds
1,100
Exceed?
No
Far -Term Plus Project - 2025
Emissions in metric tons per year
9,802
Maximum Net Increase
990
BAAQMD Thresholds
1,100
Exceed?
No
Source: Illingworth & Rodkin, 2012
17 BAAQMD's CEQA Guidelines and May 2010 staff report are available for review at
<http: / /www.baagmd.gov/ Divisions /Planning- and - Research /CEQA- GUIDELINES.aspx >.
;fI
b) Conflict with an applicable plan, policy or regulation adopted for the purpose of reducing
the emissions of greenhouse gases?
No Impact. In October 2012, the City of Dublin adopted a Climate Action Plan (CAP) that commits to
reducing GHG emissions by 20 percent below business -as -usual GHG emissions by 2020. The CAP
meets the intent of the AB 32 (California Global Warming Solutions Act) GHG reduction mandate.
The project would not conflict with initiatives set forth in the CAP, nor would it interfere with any
plan or regulation intended to reduce GHG emissions. Therefore, no impacts would occur and no
mitigation is required.
'z:I...
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52
Duughe�yRuad�mpruvements
V111. Hazards and Hazardous Materials
Would the project:
a) Create a significant hazard to the public
or the environment through the routine
transport, use, or disposal of hazardous
El
❑
❑
❑
materials?
b) Create a significant hazard to the public
or the environment through reasonably
foreseeable upset and accident conditions
❑
®
❑
❑
involving the release of hazardous materials
into the environment?
c) Emit hazardous emissions or handle
hazardous or acutely hazardous materials,
substances, or waste within one - quarter
El
❑
❑
❑
mile of an existing or proposed school?
d) Be located on a site which is included on
a list of hazardous materials sites complied
pursuant to Government Code Section
65962.5 and as a result, would it create a
❑
❑
El
❑
significant hazard to the public or the
environment?
e) For a project located within an airport
land use plan or, where such a plan has not
been adopted, within two miles of a public
airport or public use airport, would the
❑
❑
❑
❑
project result in a safety hazard for people
residing or working in the project area?
f) For a project within the vicinity of a
private airstrip, would the project result in a
safety hazard for people residing or working
❑
❑
❑
❑
in the project area?
g) Impair implementation of or physically
interfere with an adopted emergency
response plan or emergency evacuation
❑
❑
❑
❑
plan?
1If 1'T S 'Ii,l,o`iY D'ol"�gh '11'y l "oa"m4 YY1C.tYr �!4 YY1� YlI'.t
h) Expose people or structures to the risk of
loss, injury or death involving wildland fires,
including where wildlands are adjacent to ❑ ❑ F-1 urbanized areas or where residences are
intermixed with wildlands?
Project Setting
Geocon Consultants ( Geocon) prepared an Initial Site Assessment (ISA) of the project site. This
report is included as Appendix F. The ISA was prepared to determine the potential presence of
hazardous materials. The ISA concluded that the project site includes several properties with
potentially contaminated soils /groundwater from previous uses. A summary of this information is
provided below.
a) Create a significant hazard to the public or the environment through the routine transport,
use, or disposal of hazardous materials?
Less than Significant Impact. The project would not involve the routine use, transport, or disposal of
hazardous materials as part of its operations. Construction of the project would require the
temporary use of potentially hazardous materials, such as fuels and solvents needed for earth -
moving equipment. The transport and use of such materials is highly controlled by numerous
existing federal and state regulations.
Construction also requires the excavation of soils, some of which could contain hazardous materials.
This matter is address under item b) and Mitigation Measure HAZ -1 below.
Given the nature of the project and with adherence to Mitigation Measure HAZ -1, the project would
not create a significant impact or hazard to the public or the environment associated with hazardous
materials.
b) Create a significant hazard to the public or the environment through reasonably
foreseeable upset and accident conditions involving the release of hazardous materials into
the environment?
Potentially Significant Unless Mitigation Incorporated. The ISA found the following potential
sources of soil contamination, which could pose a threat to construction workers during project
grading and site preparation.
• Aerially deposited lead and petroleum hydrocarbons from automotive emissions and
traffic may have impacted soils along the unpaved east shoulder of Dougherty Road.
• Historical uses and operation of the Southern Pacific Railroad (SPRR), which crossed the
project site at the intersection of Dougherty Road and Scarlett Drive prior to the mid -
1980s, could have potentially released hazardous materials as ballast or as herbicide
weed control.
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• The Kinder Morgan Energy petroleum pipeline that crosses the southern portion of the
site at the intersection of Dougherty Road and Scarlett Drive could have potentially
released petroleum hydrocarbon into the soil and impacted the site.
Due to the proximity of these potentially contaminated sites and materials, the ISA (Appendix F)
recommends a Phase II preliminary site investigation consisting of soil sampling for hydrocarbons,
metals, and herbicides. Adherence to the recommendations of the Phase II investigation will ensure
worker safety as well as the safe disposition and disposal of any hazardous materials.
Mitigation Measure HAZ -1: Prior to the issuance of a grading permit, a Phase II site
investigation shall be conducted to sample the soils on the project site to ascertain the
extent of potential environmental impairments and to establish appropriate protocols for
the collection and safe disposal of any contaminated soils and /or groundwater. All
recommended remediation, soil material management, and /or disposal protocols of the
Phase II investigation shall be conditions of project approval.
Mitigation Measure HAZ -2: To avoid or minimize conflicts with the existing Kinder Morgan
Energy petroleum pipeline, contractors and the City of Dublin shall coordinate closely with
Kinder Morgan Energy in the development of final design plans. Project contractors shall
notify Kinder Morgan Energy in advance of any planned excavation at or near the petroleum
pipeline. If necessary, the City shall encase /protect pipelines to minimize any possible
conflict.
Significance after Mitigation: Mitigation Measures HAZ -1 and HAZ -2 would reduce potential
impacts to a less- than - significant level.
c) Emit hazardous emissions or handle hazardous or acutely hazardous materials, substances,
or waste within one - quarter mile of an existing or proposed school?
No impact. No schools are located within one - quarter mile of the project site. Valley High School is
located approximately 1/2 mile from the project site at 6901 York Drive. Moreover, the project
would not routinely emit hazardous emissions and would not result in any increase in the handling of
hazardous materials, beyond the potential for such handling during project construction (see
Mitigation Measure HAZ -1 above). No impact would occur. No mitigation is required.
d) Be located on a site which is included on a list of hazardous materials sites complied
pursuant to Government Code Section 65962.5 and as a result, would it create a significant
hazard to the public or the environment?
No impact. The project site is not included on the "Cortese" list of hazardous materials site
(compiled pursuant to Government Code Section 65962.5). However, as noted above, soils
underlying the project site may include low levels of potentially hazardous substances. Mitigation
Measure HAZ -1 would reduce all soil - related impacts to a less- than - significant level. No impact
would occur. No mitigation is required.
S (:iy o[t ,heil,y ',o,(`m4 YY1C.tYr �!4 YY1� Y1f�
e) For a project located within an airport land use plan or, where such a plan has not been
adopted, within two miles of a public airport or public use airport, would the project result in
a safety hazard for people residing or working in the project area?
and
f) For a project within the vicinity of a private airstrip, would the project result in a safety
hazard for people residing or working in the project area?
No Impact. None of the project site is located within an airport land use plan and there is no airport
located within 2 miles. The nearest airport to the project site is the Livermore Municipal Airport,
located approximately 6 miles east of the project site, south of the 1 -580 freeway. Owing to this
distance, the project would not entail any safety hazard related to airport /airstrip proximity. No
impact would occur. No mitigation would be required.
g) Impair implementation of or physically interfere with an adopted emergency response plan
or emergency evacuation plan?
Less than Significant Impact. Fire and emergency services in the City of Dublin are provided by
Alameda County Fire Department and the Alameda County Sheriff's Office. The project would
expand overall mobility in the area by adding travel lanes to Dougherty Road. Emergency access is
also addressed in Section XVI, Transportation (item e). For more than two decades, the City's
General Plan Circulation Element has reflected the City's intent to build out Dougherty Road as a
divided six -lane road with bicycle lanes and pedestrian facilities. Other related City planning
documents and environmental reviews have taken into account the ultimate buildout of Dougherty
Road. Therefore, the project would not interfere with any emergency plans. Project impacts would
be less than significant and no mitigation is required.
h) Expose people or structures to the risk of loss, injury or death involving wildland fires,
including where wildlands are adjacent to urbanized areas or where residences are intermixed
with wildlands?
No Impact. The project site is located in an urbanized portion of the City of Dublin. There are no
wildlands adjacent to, within, and /or intermixed with existing residences near the project site. As
result, the project would not expose people or structures to wildfire hazards. No wildland fire
impact would occur. No mitigation is required.
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IX. Hydrology and Water Quality
Would the project
a) Violate any water quality standards or
❑
❑
❑
❑
waste discharge requirements?
b) Substantially deplete groundwater
supplies or interfere substantially with
groundwater recharge such that there
would be a net deficit in aquifer volume or a
lowering of the local groundwater table level
e.g., the production rate of pre- existing
❑
❑
❑
nearby wells would drop to a level which
would not support existing land uses or
planned uses for which permits have been
granted?
c) Substantially alter the existing drainage
patterns of the site or area including
through the alteration of the course of a
stream or river, in a manner which would
❑
❑
®
❑
result in substantial erosion or siltation on or
off -site?
d) Substantially alter the existing drainage
pattern of the site or area, including through
the alteration of the course of a stream or
river, or substantially increase the rate or
❑
❑
®
❑
amount of surface runoff in a manner which
would result in flooding on -or off -site?
e) Create or contribute runoff water which
would exceed the capacity of existing or
planned stormwater drainage systems or
❑
❑
❑
El
provide substantial additional sources of
polluted run -off?
f) Otherwise substantially degrade water
quality?
❑
❑
❑
❑
g) Place housing within a 100 -year flood
hazard area as mapped on a Federal Flood
Hazard Boundary or Flood Insurance Rate
❑
❑
❑
Map or other flood hazard delineation map?
1111 gal `'a'l1,l,fmi`i
'o[_1 h('1"I'y F"'oa"o`m
YY1C.tYf)l4 YY1� Y11'.t
15, 7 ..
h) Place within a 100 -year flood hazard area
structures which would impede or redirect ❑ ❑ ❑
flood flows?
i) Expose people or structures to a significant
risk of loss, injury or death involving
flooding, including flooding as a result of the ❑ ❑ ❑
failure of a levee or dam?
j) Inundation by seiche, tsunami, or
mudflow? ❑ ❑ ❑
Project Setting
Qualified hydrologists at WRECO prepared a Water Quality Report and a Location Hydraulic Study for
the project site. These reports are included as Appendix G and Appendix H respectively.
There are no stream crossings within the project limits. Stormwater runoff from the project site is
channeled through the Alamo Creek, Cabot Canal and an unnamed canal to the Alamo Canal. Alamo
Canal is a tributary of Alameda Creek, which discharges into San Francisco Bay.
The Federal Emergency Management Agency (FEMA) determines areas with potential effects
attributed to flood hazards. According to FEMA Flood Insurance Rate Maps, the project site is within
Flood Zone X, which has a 0.2 percent annual chance of encountering a damaging flood (in other
words, a damaging flood every 500 years). No portion of the project is located within a 100 -year
flood hazard area.
a) Violate any water quality standards or waste discharge requirements?
and
f) Otherwise substantially degrade water quality?
Less - than - Significant Impact. Ground disturbing activities associated with construction of the project
could cause soil erosion or result in suspended solids entering area waterways. As the project would
create more than one acre of new impervious area, it would be subject to the requirements of the
City's NPDES permit, or Construction General Permit (CGP), and must submit a Notice of Intent to the
State Water Resources Control Board. The project would also be required to develop a Stormwater
Pollution Prevention Program (SWPPP). These requirements include incorporation of BMPs to limit
illicit discharges of (potentially contaminated) stormwater during construction, BMP
implementation, visual and analytical results from monitoring and sampling activities, and corrective
actions taken to ensure compliance with the CGP. The project would be required to comply with the
City's BMPs for erosion and sedimentation control during the construction period, as outlined in the
NPDES permit.
Because the project creates or replaces more than 1 acre of impervious surface, it is further
regulated under the Municipal Regional Permit (MRP). The MRP requires placement of permanent
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stormwater treatment facilities and hydromodification mitigation measures. Compliance with these
permits addresses both short -term and long -term impacts to avoid, minimize or mitigate sediment
and suspended solids impacts to Alamo Creek, Cabot Canal, and Alamo Canal. The project would be
designed and constructed to comply with all water quality standards and waste discharge
requirements.
To minimize the off -site transport of pollutants, a substaRtial pekieH of stormwater runoff from the
northbound lanes within the project site would be collected via vegetated bioswales in the new
roadway median to infiltrate and treat stormwater prior to entering the City's storm drain system.
Source control measures such as stormwater conveyance system stenciling /signage and efficient
irrigation will be included in the project design to eliminate pollutant contact with stormwater.
Therefore, project implementation with the proposed storm management facilities; would not
violate water quality standards to degrade the water quality level on the project site. Impacts would
be less- than - significant and no mitigation is required.
b) Deplete groundwater?
No Impact. No groundwater wells or springs, or existing or planned land uses requiring the use of
groundwater supplies, have been identified on the project site. The project would not introduce any
new wells or other features that would draw upon groundwater. Although the project would
increase the paved width of Dougherty Road, project stormwater control features developed in
compliance with the MRP would implement permanent stormwater treatment BMPs that would
promote infiltration within the project limits. Therefore, the project would not deplete groundwater
but would instead increase the potential for groundwater recharge relative to existing conditions.
No mitigation is required.
c) Substantially alter the existing drainage patterns of the site or area, including through the
alteration of the course of a stream or river, in a manner which would result in substantial
erosion or siltation on or off -site?
Less - than - Significant Impact. Implementation of the project would not adversely change the
existing drainage patterns on the project site or immediately surrounding area. The project does not
propose any work that would alter the existing course of any nearby creek, canal, or culvert. Existing
culverts may be extended and /or replaced and new culverts would likely be installed as part of this
project to accommodate the proposed roadway geometry, but the existing drainage pattern would
not change. Drainage design would aim to prevent water surface elevations and velocities from
exceeding existing conditions, or exceeding the capacity of the existing downstream facilities at the
boundary of the project site.
Long -term erosion and sediment controls would be addressed with the placement of permanent
treatment BMPs, and short -term erosion and sediment controls would be addressed with
construction site BMPs. These BMPs would be implemented to ensure that erosion and sediment
would be minimized or mitigated. Therefore, this impact would be less- than - significant and no
mitigation is required.
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d) Substantially alter the existing drainage pattern of the site or area, including through the
alteration of the course of a stream or river, or substantially increase the rate or amount of
surface runoff in a manner which would result in flooding on -or off -site?
Less - than - Significant Impact. Implementation of the project would not substantially change the
existing drainage pattern on the project site. The project does not propose any work that would
alter the existing course of Alamo Creek, Cabot Canal, and Alamo Canal. While the project would
add approximately 9 acres of additional impervious surface area, the additional contribution to the
Alamo Canal watershed is minimal. The project would also comply with the MRP and all required
hydromodification mitigation to minimize the rate and amount of surface runoff discharging to
receiving water bodies. Hydromodification mitigation will be designed with the goal of maintaining
preconstruction stormwater discharge flows by metering or detaining these flows prior to
discharging to a receiving water body. Therefore, impacts of the project to drainage patterns and
run -off resulting in flooding would be less- than - significant and no mitigation is required.
e) Create or contribute runoff water which would exceed the capacity of existing or planned
stormwater drainage systems or provide substantial additional sources of polluted run -off?
Less - than - Significant Impact. The project would increase the total impervious surface area within its
limits, and therefore, would increase the volume of stormwater runoff. Existing drainage facilities
within the project site may be extended, replaced, repaired, and /or improved as necessary to
provide proper offsite and roadway drainage. Furthermore, the project includes construction of
vegetated bioswales that would reduce retain stormwater run -off before allowing it to slowly
infiltrate into the ground. In compliance with MRP requirements, stormwater treatment BMPs and
hydromodification mitigation measures will be included where practicable. The stormwater
treatment BMPs would prevent polluted runoff from impacting Alamo Creek, Cabot Canal, and
Alamo Canal by promoting infiltration, retention and filtration of pollutants and the
hydromodification mitigation measures would allow for metering or detaining run -off. Through
compliance with required measures, the impacts of the project on stormwater drainage systems and
polluted run -off would be less- than - significant and no mitigation is required.
g) Place housing within a 100 -year flood hazard area as mapped on a Federal Flood Hazard
Boundary or Flood Insurance Rate Map or other flood hazard delineation map?
and
h) Place within a 100 -year flood hazard area structures which would impede or redirect flood
flows?
and
i) Expose people or structures to a significant risk of loss, injury or death involving flooding,
including flooding as a result of the failure of a levee or dam?
No Impact. According to the FEMA flood maps for the project site (dated August 3, 2009), the
project site does not include any 100 -year flood hazard area. The project does not include the
development of any habitable structures and therefore would not place housing or structures within
a 100 -year flood hazard area. Therefore, the project would not expose people, property, or
structures to flooding related to hazards and there would be no impact related to flooding and
flooding hazards. No impact would occur and no mitigation would be required.
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j) Inundation by seiche, tsunami, or mudflow?
No Impact. The project site is located approximately 14 miles from the San Francisco Bay and
approximately 33 miles from the Pacific Ocean. Due to the distance from these bodies of water, the
project site would not be subject to inundation by an ocean - generated seiche or tsunami. Given the
project site's relatively flat topography and distance from exposed hillside areas, the risk of mudflow
inundating the site is remote. No impact would occur. No mitigation would be required.
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�nitia� Study
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G2
Duughe�yRuad�mpruvements
X. Land Use and Planning
Would the project:
a) Physically divide an established
community? ❑ ❑ ❑
b) Conflict with any applicable land use
plan, policy, or regulation of an agency
with jurisdiction over the project
(including, but not limited to the general
plan, specific plan, local coastal program, ❑ ❑ ® ❑
or zoning ordinance) adopted for the
purpose of avoiding or mitigating an
environmental effect?
c) Conflict with any applicable habitat
conservation plan or natural community ❑ ❑ ❑ ❑
conservation plan?
Project Setting
The City of Dublin sets forth allowable land uses in its General Plan and Zoning Code and their
associated maps. The General Plan land use map (Figure 4) designates various land uses around the
project site, including Retail /Office and Automotive, Business Park /Industrial and Outdoor Storage,
Medium and High- Density Residential and Retail Office. The City has zoned much of the area around
the project as "Planned Development" (Figure 3).
Existing land uses in the immediate vicinity include institutional and residential uses on Camp Parks
to the east, medium and high- density residential neighborhoods to the west, and a mix of
medium /high- density residential, retail office, automotive and commercial uses in the southern
portion of the project site. The project site is not located within an applicable Habitat Conservation
Plan.
a) Physically divide an established community?
No impact. The project would involve widening of an existing roadway, including enhanced bicycle
facilities. Rather than physically dividing the established community, the project addresses
congestion and circulation and improves bicycle and pedestrian connectivity by constructing Class II
bicycle lanes that improve access to the Iron Horse Trail. The project would not otherwise present
any physical disruption to the existing community. No impact would occur and no mitigation is
required.
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b) Conflict with any applicable land use plan, policy, or regulation of an agency with
jurisdiction over the project (including, but not limited to the general plan, specific plan, local
coastal program, or zoning ordinance) adopted for the purpose of avoiding or mitigating an
environmental effect?
Less than Significant impact. The project is anticipated to require acquisition of additional right -of-
way in front of a single commercial property (6305 Dougherty Road). The portion of this property
anticipated for acquisition currently includes several parking spaces. Therefore, the project could
result in a reduced number of parking spaces at this property. The removal of several parking spaces
from this property would create an inconsistency with the amount of off - street parking called for
under Section 8.76.080 of the City's Zoning Code.
Off - street parking requirements are generally not considered to be regulations "adopted for the
purpose of avoiding or mitigating an environmental effect." Moreover, relevant case law and the
CEQA Guidelines stand for the proposition that a mere inconsistency with legislative parking
requirements is not on its face a physical impact on the environment.18
Commercial off - street parking requirements are primarily intended to enhance the convenience of
business patrons and owners, with an ancillary purpose of reducing secondary physical effects such
as traffic, noise, and air quality effects related to a substantial number of vehicles circling excessively
in order to find a parking space. Here, the project's proposed right -of -way acquisition would not
remove all parking spaces from the affected property. Existing off - street parking located elsewhere
on the property would not be affected by the proposed right -of -way acquisition and would thus
remain available for patrons and employees. In addition, existing on- street parking on Houston
Place, north of this property, would remain and would not be affected by the proposed project.
Given the small scale of project's impact on off - street parking and that off - street would remain, a
significant secondary effect (e.g. traffic, noise, air quality) would not occur.
Land uses surrounding the project site are zoned as Residential and Commercial /Industrial. The
project is part of the City of Dublin's General Plan and its most recent Capital Improvement Program.
Therefore, the project does not conflict with any applicable land use plan, policy, or regulation
adopted by an agency to avoid or mitigate environmental effects. No mitigation is required.
18 The California Court of Appeal has held that parking is not part of the permanent physical environment,
that parking conditions change over time as people change their travel patterns, and that the adequacy of
parking related to a project need not be considered a significant environmental impact under CEQA unless
it would cause significant secondary effects (see San Franciscans Upholding the Downtown Plan v. the City
and County of San Francisco (2002) 102 Cal.App.4th 656). Similarly, the December 2009 amendments to
the State CEQA Guidelines (which became effective March 18, 2010) removed parking from the State's
Environmental Checklist (Appendix G of the State CEQA Guidelines) as an environmental factor to be
considered under CEQA.
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c) Conflict with any applicable habitat conservation plan or natural community conservation
plan?
No impact. The project site is not located within any habitat conservation plan area or any natural
community conservation plan. Therefore, the project would not conflict with any adopted habitat
conservation plan. No impact would occur and no mitigation is required.
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�nitia�Study DuugheilyRuad�mpruvements
X1. Mineral Resources
Would the project:
a) Result in the loss of availability of a
known mineral resource that would be of
value to the region and the residents of ❑ ❑ ❑
the state?
b) Result in the loss of availability of a
locally important mineral resource
recovery site delineated on a local general ❑ ❑ ❑
plan, specific plan or other land use plan?
Project Setting
The Conservation Element of the Dublin General Plan states that the City does not contain any areas
of mineral extraction. Classification of an area as a Mineral Resource Zone (MRZ) by the California
Geological Survey /Department of Conservation indicates the existence of a deposit that meets
certain criteria for value and marketability. MRZ classifications are as follows:
• MRZ -1 is an area with no significant mineral deposits or little likelihood that such
deposits exist;
• MRZ -2 is an area with significant mineral deposits or high likelihood that such
deposits exist;
• MRZ -3 is an area containing mineral deposits the significance of which cannot be
evaluated from available data; and
• MRZ -4 is an area where available information is inadequate for assignment to any
other MRZ zone.
The Department of Conservation has classified the project site in the MRZ -1 category with no
significant mineral deposits. 19
19 California Geological Survey, 1983. Mineral Land Classification: Aggregate Materials in the San
Francisco Monterey Bay Area, Part II: Classification of Aggregate Resource Areas, South San Francisco Bay
Production Consumption Region, Special Report 146, Part II.
f5
a) Result in the loss of availability of a known mineral resource?
and
b) Result in the loss of availability of a locally important mineral resource recovery site?
No impact. The project site is currently developed and not used for mineral recovery. Moreover, no
known mineral resources are known to occur within the project limits. Therefore, project
construction and implementation would result in no impact to mineral resource availability or
recovery. No impact would occur and no mitigation is required.
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X11. Noise
Would the project
a) Result in exposure of persons to or
generation of noise levels in excess of
standards established in the local general
❑
❑
®
❑
plan or noise ordinance, or applicable
standards of the other agencies?
b) Result in exposure of persons to or
generation of excessive ground borne
❑
❑
®
❑
vibration or ground borne noise levels?
c) Result in a substantial permanent
increase in ambient noise levels in the
project vicinity above levels existing
❑
❑
®
❑
without the project?
d) Result in a substantial temporary or
periodic increase in ambient noise levels in
the project vicinity above levels existing
❑
❑
®
❑
without the project?
e) For a project located within an airport
land use plan or, where such a plan has not
been adopted, within two miles of a public
airport or public use airport, would the
❑
❑
F-1
project expose people residing or working
in the project area to excessive noise
levels?
f) For a project located within the vicinity of
a private airstrip, would the project expose
people residing or working in the project
❑
❑
❑
❑
area to excessive noise levels?
Project Setting
Illingworth and Rodkin, Inc. prepared a Noise Assessment for the project site, which includes
details
of the analysis and provides background information on how noise
and vibration
are measured. The
Noise Assessment is included in its entirety as (Appendix 1).
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Project Site Noise
Noise - sensitive land uses are located both west and east of Dougherty Road within the project study
limits. The majority of these are residential land uses that are shielded by terrain or existing noise
barriers. In addition, Alamo Creek Park and the Park Sierra outdoor use area on North Avenue are
located proximate to Dougherty Road.
A noise monitoring survey was conducted to quantify ambient noise levels at representative noise -
sensitive locations adjacent to Dougherty Road .20 The monitoring survey occurred between 11:00
a.m. on Wednesday, June 20, 2012 and 11:00 a.m. on Friday, June 22, 2012. Noise levels were
measured at eight locations. Two of the eight measurements were long -term, i.e., 48 hours in
duration (LT -1 and LT -2), and were made to quantify the daily trend in noise levels along Dougherty
Road. The six remaining noise measurements were short -term, i.e., ten minutes in duration (ST -1
through ST -6). The monitoring locations are shown as Figure 10.
Noise measurement locations LT -1 and LT -2 were selected to quantify the daily trend in noise levels
along Dougherty Road. Table 5 below summarizes noise levels at these locations. Noise
measurement locations were selected to quantify traffic noise levels generated by Dougherty Road
at existing receivers in the vicinity of the project site. The day -night average noise level was found to
be on average 1 dBA higher than the p.m. peak hour average noise level at both long -term
measurement locations. The daily distribution of noise levels at LT -1 and LT -2 are summarized in
Attachment B of Appendix I.
Table 5. Long Term Noise Measurement Results
Long Term Noise Measurement
Hourly Average
Day -Night Average
Location
Noise Levels
Noise Levels
dBA Leg
dBA Ldn
LT -1 - Alamo Creek Park,
55-70
70
(approximately 75 feet from the
center of the roadway)
LT -2 — Park Sierra at North Avenue
57-70
71
(approximately 55 feet from the
center of the roadway)
Source: Illingworth & Rodkin, Inc., 2012.
20 Noise measurements were made using Larson -Davis Model 820 integrating sound level meters fitted
with precision microphones and windscreens. The sound level measuring assemblies were calibrated
before and after the noise monitoring survey, and the response of the systems were always found to be
within 0.2 dB of the calibrated level. No calibration adjustments were made to the measured noise levels.
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Short -term noise measurements were conducted at six additional locations (ST -1 through ST -6) and
the results are summarized in Table 6 below.
Table 6. Short Term Noise Measurement Results
Short Term Noise Measurement Location
Noise Level (dBA)
(Date —Time of Noise Measurement)
Est.
Leq
L(1)
L(io)
L(so)
L(go)
Ldn
ST -1— Tralee Townhomes eastern fagade, Dougherty
Road between Sierra Lane and Dublin Boulevard.
68
80
71
64
58
72
(6/20/12, 11:00 a.m. — 11:10 a.m.)
ST -2 — Iron Horse Trail Apartments, 6233 Dougherty
Road, western fagade.
66
76
70
63
55
69
(6/20/12, 11:00 a.m. — 11:10 a.m.)
ST -3 — 6391 Sussex Court, western fagade.
60
69
63
57
47
61
(6/20/12, 11:50 a.m. — 12:00 p.m.)
ST -4 — Approximately 15 feet from curb of Dougherty
Road south of Amador Valley Boulevard.
71
80
74
69
54
73
(6/20/12, 12:36 p.m. — 12:46 p.m.)
ST -5 — Cottonwood Circle apartments, eastern
fagade, approximately 8 feet lower in elevation than
Dougherty Road.
53
60
57
52
47
55
(6/20/12, 12:10 p.m. — 12:20 p.m.)
ST -6 — Chantilly Drive townhomes, parking lot.
57
66
60
55
51
58
(6/20/12, 11:40 a.m. — 11:50 a.m.)
Source: Illingworth & Rodkin, Inc., 2012.
a) Exposure of persons to or generation of noise levels in excess of standards established in
the local general plan or noise ordinance, or applicable standards of the other agencies?
Less - than - significant impact. The project involves adding additional lanes and other improvements
to an existing roadway /right -of -way and would not include land uses that would expose additional
noise - sensitive receptors.
Demolition and construction activities necessary to implement the project would generate noise.
The Dublin Municipal Code, however, does not contain quantitative noise limits regulating
construction noise. Construction would occur during the daytime and would proceed along the
7':I...
project alignment thereby only affecting receptors or groups of receptors over a period of time.
Construction noise would not be considered prolonged, unusual, or unnatural in their time or place
and would not be a detriment to the public health, comfort, safety, welfare, and prosperity of the
residents of the city. Therefore, the project would have a less- than - significant impact on exposure of
persons to or generation of noise. No mitigation is necessary.
b) Exposure of persons to or generation of excessive ground borne vibration or ground borne
noise levels?
Less - than - significant impact. Project construction activities with the greatest potential of generating
perceptible vibration levels would include the removal of existing pavement, concrete, or soil, the
movement of heavy equipment, and vibratory compacting of roadway base materials. Equipment
anticipated during project construction would include backhoes, excavators, dump trucks, front -end
loaders, asphalt pavement grinders, compacting equipment, asphalt pavers, concrete trucks and
various passenger vehicles.
Vibration levels expected with varying pieces of construction equipment needed during project
construction would typically range from 0.003 in /sec PPV to 0.210 in /sec PPV at a distance of 25 feet.
Construction activities that generate higher vibration levels, such as impact or vibratory pile driving,
would not be expected with the project.
Project construction activities would typically occur at distances of 30 feet or greater from the
nearest sensitive residential structures. At this distance, vibration levels would be expected to range
from 0.002 in /sec PPV to 0.160 in /sec PPV. and would not exceed the 0.3 in /sec PPV significance
criteria. Construction hours are assumed to occur during the daytime only, thus reducing potential
for residential annoyance during typical periods of rest or sleep. Therefore, construction activities
for the project would not result in excessive groundborne vibration at residences in the vicinity and
would have a less- than - significant impact and no mitigation is necessary.
c) A substantial permanent increase in ambient noise levels in the project vicinity above levels
existing without the project?
Less - than - significant impact. The project involves adding two additional travel lanes to an existing
roadway and modifying the alignment of the roadway, but would not involve any new land uses that
would create additional trips. In some cases, travel lanes would move closer to noise - sensitive
receivers along the project alignment, however, noise levels would not be substantially increased.
S (':iY
As part of the Noise Assessment (Appendix 1), traffic noise modeling was conducted to calculate
existing and existing plus project noise levels as well as the change in noise levels expected as a
result of the road widening.21 The results of the noise modeling indicate that noise level increases
with the project would be 2 dBA Ldn or less at receivers along the project corridor (Appendix I, Table
6). Noise level increases of 3d BA Ldn or less are typically not perceptible. The projected noise level
increases would not exceed the significance criteria established for the project. Therefore, the
project would have a less- than - significant impact on permanent ambient noise levels and no
mitigation measures are required.
d) A substantial temporary or periodic increase in ambient noise levels in the project vicinity
above levels existing without the project?
Less - than - significant impact. The construction of the project would generate noise, and would
temporarily increase noise levels at adjacent residential receptors. Construction equipment would
likely include backhoes, excavators, dozers, dump trucks, front -end loaders, scrapers, graders,
compacting equipment, asphalt pavers and rollers, and various passenger vehicles.
Noise impacts resulting from roadway construction depend on the noise generated by various pieces
of construction equipment, the timing and duration of noise generating activities, and the distance
between construction noise sources and noise sensitive receptors. Construction activities generate
considerable amounts of noise, especially when heavy equipment is used. At times, these activities
would occur immediately adjacent to residential receivers.
The highest maximum noise levels generated by project construction would typically range from
about 90 to 98 dBA at a distance of 50 feet from the noise source. Typical hourly average
construction - generated noise levels are about 79 dBA to 88 dBA measured at a distance of 50 feet
from the center of the site during busy construction periods. Interior noise levels would be as high
as 68 dBA inside (assuming the windows are shut). The noise levels would be high enough to
potentially interfere with conversation in rooms facing the road. During other construction activities,
noise levels would be lower but could still potentially interfere with indoor and outdoor activities.
Construction - generated noise levels drop off at a rate of about 6 dBA per doubling of distance
between the source and receptor. Shielding provided by buildings should result in lower
construction noise levels at distant receptors.
Construction noise impacts often occur when construction activities take place during noise - sensitive
times of the day (early morning, evening, or nighttime hours), when construction activities occur
immediately adjacent to noise sensitive land uses, or when construction durations last over
21 Traffic noise levels were modeled with the Federal Highway Administration's (FHWA) Traffic Noise
Model (TNM version 2.5). The traffic noise model was calibrated to measure conditions documented
during the noise monitoring survey using concurrent traffic counts and vehicle mix, and then used to
calculate traffic noise levels with implementation of the project.
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7
extended periods of time. Noise - intensive construction activities are assumed to occur only during
daytime hours (e.g., 7:00 a.m. to 7:00 p.m.), which would reduce the potential for construction noise
impacts. Construction of the planned roadway improvements would result in temporary noise level
increases at sensitive receivers along the project alignment. Construction activities would generally
move along the right -of -way as construction proceeds, and the overall construction duration would
be limited to two construction windows. Therefore, the project would have a less- than - significant
impact on substantial temporary or periodic increase in ambient noise levels.
e) Located within an airport land use plan?
and
f) Located within the vicinity of a private airstrip?
No Impact. The closest public airport is the Livermore Municipal Airport, located approximately 6
miles east of the project site, south of the 1 -580 freeway. The project site is not located within the
vicinity of a private airport. Owing to this distance from air facilities, the project would not expose
people residing or working in the project site to excessive noise levels within the vicinity of a public
or private airstrip. No mitigation is required.
74
X111. Population and Housing
Would the project:
a) Induce substantial population growth in
an area, either directly, (for example, by
proposing new homes and businesses) or ❑ ❑ 1'71 El
(for example, through extension
of roads or other infrastructure)?
b) Displace substantial numbers of
existing housing, necessitating the
construction of replacement housing ❑ ❑ ❑ ❑
elsewhere?
c) Displace substantial numbers of people,
necessitating the construction of ❑ ❑ El ❑
replacement housing elsewhere?
Project Setting
The Association of Bay Area Governments (ABAG) provides growth projects for the San Francisco Bay
Area counties and cities, including Alameda County and the City of Dublin.
According to ABAG's Housing Projections 2009, the City's population was 49,000. The city's
population is expected to increase to 62,800 by 2020 and 83,600 by 2035.
a) Induce substantial population growth?
Less - than - significant impact. The project would not directly induce any substantial population
growth because it does not include new housing units (that could increase population) or any new
commercial space that could facilitate job growth.
The addition of two travel lanes, bus stops, and bicycle lanes to the Dougherty Road corridor would
not foreseeably lead to any indirect job or population growth. Rather, the project has long been
planned as a means to accommodate existing development and planned growth in the immediate
area. In all, the project would have a less- than - significant effect with regard to inducement of
substantial population growth. No mitigation is necessary.
7`z ..
b) Displace substantial numbers of existing housing, necessitating the construction of
replacement housing elsewhere?
and
c) Displace substantial numbers of people, necessitating the construction of replacement
housing elsewhere?
No impact. The project does not entail any displacement of any existing housing units. All of the
land to be incorporated into the roadway would come from the east side of the corridor. Some land
acquisition is required to complete the project, but all of this land would come from commercial or
institutional uses. Therefore, the project would result in no displacement of people or housing units.
No mitigation is required.
7f,3
XIV. Public Services
Would the project
a) Would the project result in substantial
adverse physical impacts associated with the
provision of new or physically altered
governmental facilities, need for new or
physically altered governmental facilities, the
construction of which could cause significant
environmental impacts, in order to maintain
acceptable service ratios, response times or
other performance objectives for any of the
public services:
i) Fire protection?
❑
❑
❑
ii) Police protection?
❑
❑
❑
iii) Schools?
❑
❑
❑
iv) Parks?
❑
❑
❑
v) Other public facilities?
❑
❑
❑
Project Setting
Fire protection services in the City of Dublin are provided by the Alameda County Fire Department.
There are three fire stations in the City, served by 36 line personnel. Police services for the City are
performed under contract with the Alameda County Sheriff's Office.
The project site is located within the Dublin Unified School District (DUSD) which serves the City of
Dublin with three K -5 schools, one 6 -8 school, one high school, and one continuation high school.
The City of Dublin's Fall Creek Park is immediately adjacent to the project site.
77 ..
a) Would the project result in substantial adverse physical impacts associated with the
provision of new or physically altered governmental facilities, need for new or physically
altered governmental facilities, the construction of which could cause significant
environmental impacts, in order to maintain acceptable service ratios, response times or
other performance objectives for any of the public services:
i) Fire protection impacts?
and
ii) Police protection impacts?
and
iii) School impacts?
and
iv) and v) Parks and Other facilities?
No impact. The project involves adding additional lanes to an existing roadway and expanded bicycle
facilities. The project would result in no direct and no foreseeably indirect increase in demand for
fire or police protection. Accordingly, the project would not result in any need to increase fire or
police personnel or expand any fire or police protection facilities. Moreover, as the project involves
no increase in the number of housing units, the project would not directly introduce any new
students to the area school population. As such, the project would result in no impacts to school
facilities.
Along similar lines, the project would not foreseeably increase the number of users of parks and
public facilities, while the project adds bicycle facilities to Dougherty Road; the project area
already has such facilities. The project would not foreseeably increase park usage such that new
or altered park or public facilities would be required. No mitigation is required.
XV. Recreation
Would the project:
a) Increase the use of existing
neighborhood and regional parks or other
recreational facilities such that substantial ❑ ❑ ❑
physical deterioration of the facility would
occur or be accelerated?
b) Include recreational facilities or require
the construction or expansion of
recreational facilities which might have an ❑ ❑ ❑
adverse physical effect on the
environment?
Project Setting
The City of Dublin's Fall Creek Park is immediately adjacent to the project site. The City has an
extensive network of park and recreational facilities, including the existing pedestrian /bicycle path
immediately east of Dougherty Road. This path provides a connection to the regional Iron Horse
Recreational Trail, which crosses the project site near Scarlett Drive.
a) Increase use of existing recreational facilities?
No Impact. As the project involves only the widening of Dougherty Road, the project would result in
no foreseeable increased use of existing recreational facilities. The project does not include a
residential component and would therefore not induce any direct or indirect population increase. As
a result, the project would not result in a substantial increase in use of neighborhood and regional
parks or other existing recreation facilities which would lead to accelerated physical deterioration of
existing parks and recreation facilities. No impact would occur and no mitigation is required.
b) Include /require construction of new recreational facilities?
No Impact. The project includes two new Class II (on- street) bicycle lanes along Dougherty Road.
These will enhance bicycle travel through and near the project site, particularly since the project site
traverses the Iron Horse Regional Trail, a prominent regional recreational resource. This document
analyzes and discloses all such effects related to the project. No other aspect of the project directly
or indirectly includes or requires new or expanded recreational facilities. No impact would occur.
No mitigation would be required.
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�nitia�Study DuugheilyRuad�mpruvements
XV1. Transportation and Traffic
Would the project:
a) Conflict with an applicable plan, ordinance or
policy establishing measures of effectiveness for
the performance of the circulation system,
taking into account all modes of transportation
including mass transit and non - motorized travel ❑ ❑ ® El and relevant components of the circulation
system, including but not limited to
intersections, streets, highways and freeways,
pedestrian and bicycle paths, and mass transit?
b) Conflict with an applicable congestion
management program, including, but not
limited to level of service standards and travel
demand measures, or other standards
El
❑
®
El
by the county congestion
management agency for designated roads or
highways?
c) Result in a change in air traffic patterns,
including either an increase in traffic levels or a
change in location that results in substantial
❑
❑
❑
safety risks?
d) Substantially increase hazards due to a design
feature (e.g., sharp curves or dangerous
intersections) or incompatible uses (e.g., farm
❑
❑
❑
❑
equipment)?
e) Result in inadequate emergency access?
❑
❑
®
❑
f) Conflict with adopted policies, plans, or
programs regarding public transit, bicycle, or
pedestrian facilities, or otherwise decrease the ❑ ❑ ❑ ❑
performance or safety of such facilities?
Project Setting
Kimley -Horn and Associates, Inc. prepared a Traffic Impact Study (TIS) in May 2012, included herein
as Appendix J. The TIS evaluated project impacts to traffic conditions on intersections in the project
vicinity, emergency service access, as well as transit, bicycle, and pedestrian facilities.
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Regional and Local Access
The following is a brief description of roadways that provide access to the City and the project site:
Amador Valley Boulevard is a two -lane collector street that joins Dougherty Road with San
Ramon Road, with much of the boulevard separated by landscape medians. Amador Valley
Boulevard near Dougherty Road is bordered by single - family and multifamily residential
units.
Dublin Boulevard is a major east -west arterial. West of Dougherty Road, it is a four- to six -
lane divided road fronted principally by retail and commercial uses. East of Dougherty Road,
it is a six -lane divided arterial fronted largely by residential, commercial uses, and vacant
land.
0 Fall Creek Drive is a two -lane residential street serving homes on the west side of Dougherty
Road. Fall Creek Drive and Willow Creek Drive are the only access points to the
neighborhood.
0 Houston Place is a two -lane residential street which also serves commercial uses on the
south side of the roadway.
Interstate 580 (1 -580) is an eight -lane, east -west freeway that connects Dublin with nearby
cities of Pleasanton and Livermore that also provides regional connections to greater
Oakland and the Central Valley. 1 -580 has an interchange with Dougherty Road south of the
project site.
Mariposa Drive is a two -lane residential street serving future homes in the new Emerald
Vista development on the west side of Dougherty Road. The city plans to install a traffic
signal at this intersection which will also serve as the future entrance to the Camp Parks.
Monterey Drive is a two -lane residential street serving future homes in the new Emerald
Vista development on the west side of Dougherty Road.
Scarlett Drive is a two -lane residential street serving homes on the east and west sides of
Dougherty Road. The Iron Horse bikeway parallels this segment of Scarlett Drive. The
bikeway provides a connection between the East Dublin BART station and the communities
to the north, including San Ramon, Danville, and Walnut Creek.
Sierra Lane is a two -lane collector street serving residential, commercial, and light industrial
uses. Sierra Lane provides secondary access to commercial properties along Dougherty
Road.
Ventura Drive is a two -lane residential street serving future homes in the new Emerald Vista
development on the west side of Dougherty Road.
8 2
Wildwood Road is a two -lane residential street serving homes on the west side of
Dougherty Road. Willow Creek Drive is a two -lane residential street serving homes on the
west side of Dougherty Road. Willow Creek Drive and Fall Creek Drive are the only access
points to the immediate neighborhood.
Transit Facilities
The Livermore Amador Valley Transit District (LAVTA) provides bus transit service to the tri- valley
communities of Dublin, Pleasanton, and Livermore. LAVTA's fixed -route transit service "Wheels,"
operates Routes 3, 3V and 202 along the project corridor. These routes provide connections to many
locations in Dublin and to other local and regional transit routes.
Existing transit stops on located on the project corridor are as follows:
0 Northbound Dougherty Road north of Houston Place
Southbound Dougherty Road south of Mariposa Drive (includes a bus pullout)
Southbound Dougherty Road north of Sierra Lane.
The County Connection provides bus connection between the East Dublin BART station and the San
Ramon Transit Center in Bishop Ranch via Route 35 along Dougherty Road. County Connection
provides fixed -route and paratransit bus service throughout most of Central Contra Costa County.
There is a County Connection bus stop (route 35) on the project corridor at Dougherty Road and
Scarlett Drive.
Bicycle and Pedestrian Facilities
A shared Class I bike /pedestrian path runs along the east side of Dougherty Road between Sierra
Lane and Scarlett Drive, connecting with the Iron Horse Trail near Scarlett Drive. Class 11 bike lanes
are present on Dougherty Road between Scarlett Drive and Amador Valley Boulevard.
Sidewalks are present on the west side of Dougherty Road through the entire length of the project
site. On the east side of Dougherty Road, there are sidewalks between Sierra Lane and Scarlett
Drive. North of Scarlett Drive, pedestrians may use the Class I bike path.
Significance Criteria
In addition to the criteria set forth in Appendix G of the CECA Guidelines (included in the checklist
above), the City of Dublin strives to phase development and roadway improvements such that level
of service (LOS) at all intersections does fall below LOS D. The LOS of each intersection qualitatively
describes the operations of the transportation facility. Level of service ranges from LOS A, indicating
free - flowing conditions with little or no delay, to LOS F, representing oversaturated conditions with
excessive delays. LOS E describes conditions at capacity.
Study Intersections
The TIS analyzed potential traffic impacts at 21 intersections along the project site. Study
intersections are listed in Table 7.
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Condition Scenarios
Traffic conditions were assessed based on the following "No Build" and "Build" development
conditions:
Near -term 2015 conditions without the project: The 2015 analysis corresponds with the
approximate completion date of the project and is based on future traffic projections that
include anticipated growth and other planned roadway projects.
Far -term 2025 conditions without the project: The year 2025 analysis represents buildout
traffic conditions for the area based upon available traffic forecasts from the Dublin Traffic
Model (DTM) combined with information from the Contra Costa Transportation Authority
(CCTA) travel forecast model. The scenario includes roadway projects (excluding this
Dougherty Road project) anticipated to be in place at the same time of the 2025 forecast
horizon.
Near -term 2015 plus project traffic conditions: The near -term plus project analysis
corresponds to the lane geometry and volumes predicted for opening day in 2015,
combined with the Dougherty Road project.
Far -term 2025 plus project traffic conditions: The far -term plus project analysis
corresponds to the lane geometry and volumes predicted for 2025, combined with the
project.
a) Conflict with an applicable plan, ordinance or policy establishing measures of effectiveness
for the performance of the circulation system, taking into account all modes of transportation
including mass transit and non - motorized travel and relevant components of the circulation
system, including but not limited to intersections, streets, highways and freeways, pedestrian
and bicycle paths, and mass transit?
Less - than - Significant Impact. The project would increase road capacity by adding two travel lanes to
an existing four lane roadway and would include construction of a landscaped median and on- street
bicycle lanes. The project would not directly cause any new trip generation and thus would not
increase the amount of traffic. Therefore, the project would not increase traffic volumes in relation
to existing conditions.
The City of Dublin General Plan standards require that the City strive to maintain a level of service
(LOS) of D or better at all intersections. A project that would cause the LOS at an intersection
currently operating at an acceptable level to exceed the acceptable levels, or that would worsen the
condition at an intersection currently operating at below an acceptable level, would cause a
significant impact. The Traffic Impact Study analyzed LOS conditions with the project in 2015 "near -
term" (at the time of completion) and in 2025 "far- term" (cumulative) at twenty -one intersections
that relate to the project corridor. Table 7 shows what level of service the twenty -one intersections
would operate at in the near and far -term with and without the project.
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Table 7. Summary of Intersection Level of Service Calculations
Study Intersection
Near -term
(2015) AM Peak
Near -term
(2015) PM Peak
Far -term (2025)
AM Peak
Far -term (2025)
PM Peak
Base
+ Project
Base
+ Project
Base
+ Project
Base
+ Project
1. Dougherty Road /Fall Creek Drive
F/A
C/A
F/A
B/A
F/A
C/A
F/A
B/A
2. Dougherty Road /Willow Creek Drive
C
B
B
A
D
B
B
A
3. Dougherty Road /Wildwood Road
F/F
B/A
F/A
A/A
F/F
B/A
F/A
A/A
4. Dougherty Road /Amador Valley
Boulevard
F
C
F
C
F
E
F
C
5. Dougherty Road /Ventura Drive
B/A
B/A
B/A
A/A
B/A
B/A
B/A
A/A
6. Dougherty Road /S. Mariposa Drive
B
A
D
C
B
A
D
C
7. Dougherty Road /Monterey Drive
C/A
A/A
B/A
A/A
C/A
A/A
B/A
A/A
8. Dougherty Road /Scarlett Drive
C
B
B
B
D
C
F
E
9. Dougherty Road /Turbo Spa
Driveway
A/A
A/A
C/A
A/A
A/A
A/A
B/A
A/A
10. Dougherty Road /Sherwin Williams
Driveway
A/A
A/A
F/A
C/A
A/A
A/A
F/A
C/A
11. Dougherty Road /Performance
Automotive Driveway
A/A
A/A
D/A
A/A
A/A
A/A
C/A
A/A
12. Dougherty Road /European Auto
Driveway
D/A
B/A
B/A
B/A
D/A
B/A
E/A
A/A
13. Dougherty Road /Castle Plastics
Driveway
C/A
B/A
C/A
A/A
C/A
B/A
B/A
A/A
14. Dougherty Road /Ironhorse Trail
Apartments
E/A
B/A
B/A
B/A
D/A
B/A
C/A
A/A
15. Dougherty Road /Dublin Self
Storage
F/A
B/A
B/A
A/A
F/A
B/A
A/A
A/A
(Table continues on next page)
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Study Intersection Near -term Near -term Far -term (2025) Far -term (2025)
(2015) AM Peak (2015) PM Peak AM Peak PM Peak
Base + Project Base + Project Base + Project Base
+ Project
16. Dougherty Road /Houston Place F/A A/A C/A B/A F/A A/A F/A
B/A
17. Dougherty Road /Denica's E/A B/A B/A A/A D/A B/A B/A
A/A
Restaurant
18. Dougherty Road /Quality Tune Up A/A A/A B/A B/A A/A A/A B/A
B/A
19. Dougherty Road /Mini Mart E/A C/A F/A C/A E/A C/A D/A
C/A
20. Dougherty Road /Voss Materials A/A A/A A/A A/A A/A A/A A/A
A/A
21. Dougherty Road /Sierra Lane C C B C C C B
C
Note: Locations displaying two levels of service correspond to the worst approach LOS / average LOS for
side-street stop-controlled intersections.
Source: Kimley -Horn Associates, Inc., 2012
Overall, implementation of the project would not degrade level of service to an unacceptable
degree. As shown in Table7 above, the project would in many cases improve intersection
operations. Implementation of the project would improve the LOS of several intersections along
Dougherty Road, including Amador Valley Boulevard, Scarlett Drive, Iron Horse Trail Apartments, and
Sierra Lane. Therefore the project would not conflict with the City's established criteria and result in
a less- than - significant impact. No mitigation is required.
b) Conflict with an applicable congestion management program, including, but not limited to
level of service standards and travel demand measures, or other standards established by the
county congestion management agency for designated roads or highways?
Less - than - Significant Impact. The Alameda County Transportation Commission (Alameda CTC) is the
County's congestion management agency. Dougherty Road is designated by the Alameda CTC's
Congestion Management Program (CMP) as a Principal Arterial in the Tier 2 Network. The project is
consistent with the Alameda CTC's performance measures as identified in the CMP.22 Specific
performance measures identified in the CMP with which the project is consistent include:
22 Alameda County Transportation Commission: Congestion Management Program 2011. (December
2011). < htt..@: �..:. �/ wwvv.:.=: �.. 1,<: �„ w77- es�-<: �.. L�. L..,. org/.<: �.. ��.......... k: 2. =:�..g�.�. /✓.w.�.��:`�..�..�.�.
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• Improving travel time
• Reducing duration of traffic congestion
• Maintaining roadways
• Completion of Countywide Bike Plan
• Completion of Countywide Pedestrian Plan
Moreover, as shown above, the project does not degrade the LOS standard criteria set forth by the
City of Dublin. The project would therefore not result in any significant conflict with the applicable
congestion management plan. No mitigation is required.
c) Result in a change in air traffic patterns, including either an increase in traffic levels or a
change in location that results in substantial safety risks?
No Impact. There are no public or private air transportation facilities within the vicinity of the
project site. The Livermore Municipal Airport, located approximately six miles east of the project
site, is the most proximate in location. The project site is not within the jurisdiction of the Alameda
County Airport Land Use Commission and is outside of any identified landing or noise - impacted
zones. The project would thus have no impact to air traffic patterns. No mitigation is required.
d) Substantially increase hazards due to a design feature (i.e., sharp curves or dangerous
intersections) or incompatible uses (i.e., farm equipment)?
Less - than - Significant Impact. The TIS analyzed vehicle queuing (in other words, the distance that
vehicles will back up in each direction approaching an intersection) at each turn pocket along the
corridor. Queues that extend 25 feet (one vehicle length), or more, beyond the turn pocket are
considered a significant impact because they may create a hazardous condition.
The TIS initially concluded that vehicle queuing at locations affected by the project are typically less
than 25 feet beyond the turn pocket, except at the intersection of Dougherty Road and Sierra Lane.
In the far -term plus project scenario, the eastbound left turn queue at the Dougherty Road /Sierra
Lane intersection extends 83 feet beyond the turn pocket in the PM peak hour. The project creates
25 feet of the total queue. Since the project adds one car length to a queue that is greater than to
one car length beyond the turn pocket at Dougherty Road and Sierra Lane (specifically at the
eastbound left turn queue), vehicle queuing would be unacceptable. Accordingly, the project was
revised to extend the eastbound left turn lane to 175 feet, such that vehicle queuing in this location
would not result in any potential hazard.
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8 7
e) Result in inadequate emergency access?
Less - than - Significant Impact. The construction of a center median as part of the project would
result in alteration of existing traffic patterns by restricting some left turns out of side streets and
eliminating left turns into and out of most driveways on Dougherty Road. However, as previously
noted in Section VIII, Hazards, the City's General Plan Circulation Element has, for more than two
decades, reflected the City's intent to build out Dougherty Road as a divided six -lane road with
bicycle lanes and enhanced pedestrian facilities. Other related City planning documents and
environmental reviews (including the recent environmental review for the KB Homes project
(Emerald Vista) have acknowledged and found no significant access impact related to the ultimate
buildout of Dougherty Road as a divided six -lane facility.
Notwithstanding, the TIS examined potential emergency access changes along the corridor. The TIS
noted that the placement of the median could, in some cases, require emergency vehicles to arrive
from the opposite direction or make U- turns. The TIS found that five driveways and one public street
are affected by the project's access changes. If an emergency vehicle needs to make a U -turn to
reach its destination, its travel time may be incrementally increased by about 20 to about 50
seconds. Given the relative proximity of Alameda County Fire Department Stations and the Dublin
Police Department to the Dougherty Road Corridor, this incremental increase is not considered a
significant delay.
f) Conflict with adopted policies, plans, or programs regarding public transit, bicycle, or
pedestrian facilities, or otherwise decrease the performance or safety of such facilities?
Less - than - Significant Impact. The project involves adding additional lanes to Dougherty Road, which
would improve travel time for transit vehicles using the corridor. The project would add capacity to
bicycle and pedestrian facilities. The project would add on- street Class II bicycle lanes, to
southbound and northbound traffic from Scarlett Drive to the north end of the corridor. The existing
bicyclist /pedestrian path, which is separated from the roadway on the east side of Dougherty Road
would remain. The continuous sidewalk on the west side of Dougherty Road would not be changed.
The project is not expected to conflict with adopted policies, plans, or programs regarding public
transit, bicycle, or pedestrian facilities, or otherwise decrease the performance or safety of such
facilities and would therefore have less- than - significant impacts. No mitigation is required.
S (:iY o[t ,heil,y ',o,(`m4 YY1C.tYr �!4 YY1� Y1f�
XV11. Utilities and Service Systems
Would the project
a) Exceed wastewater treatment
requirements of the applicable Regional
❑
❑
❑
Water Quality Control Board?
b) Require or result in the construction of
new water or wastewater treatment
facilities or expansion of existing facilities,
❑
❑
❑
❑
the construction of which could cause
significant environmental effects?
c) Require or result in the construction of
new storm water drainage facilities or
expansion of existing facilities, the
❑
❑
❑
construction of which could cause
significant environmental effects?
d) Have sufficient water supplies available
to serve the project from existing
entitlements and resources, or are new or
❑
❑
❑
expanded entitlements needed?
e) Result in a determination by the
wastewater treatment provider which
serves or may serve the project that it has
adequate capacity to serve the project's
❑
❑
❑
projected demand in addition to the
provider's existing commitments?
f) Be served by a landfill with sufficient
permitted capacity to accommodate the
❑
❑
®
❑
project's solid waste disposal needs?
g) Comply with federal, state, and local
statutes and regulations related to solid
❑
❑
®
❑
waste?
Project Setting
The City of Dublin's water is distributed by
Dublin San Ramon
Services District (DSRSD), purchased
from Zone 7 of the Alameda County Flood Control and Water
Conservation District. According to the
City's General Plan, the District imports water
from the following sources:
State water project, local
runoff from the Arroyo Del Valle watershed (stored in Lake Del Valle) and from natural recharge
of
the groundwater basin.
S (':iY R',o,(`m4 YY1C.tYr �!4 YY1� Yif�
Wastewater from the City of Dublin is treated at DSRSD's Recycled Water Treatment Facilities
(RWTF) in Livermore - Amador Valley. Disposal of treated wastewater is provided by the Livermore -
Amador Valley Waste Management Agency (LAVWMA) facility. DSRSD supplies recycled water for
landscape irrigation to 283 customers in the City of Dublin and Dougherty Valley.23 LAVWMA
discharges treated sewage via the East Bay Dischargers Authority into San Francisco Bay.
Stormwater runoff from the project site is channeled through the Alamo Creek, Cabot Canal and an
unnamed canal to the Alamo Canal. Alamo Creek is a tributary of Alameda Creek. A Stormwater
Pollution Prevention Plan (SWPPP) for this project is required to be developed by the contractor and
submitted to the City of approval prior to beginning construction.
Amador Valley Industries provides solid waste collection, recycling and yard waste collection services
for the City of Dublin. Solid waste from the City of Dublin is deposited at the Altamont Landfill in
Livermore. The City of Dublin requires that all construction demolition projects recycle 100 percent
of asphalt and concrete and divert at least 50 percent of all waste generated on a job site.
a) Exceed wastewater treatment requirements of the applicable Regional Water Quality
Control Board?
and
b) Require or result in the construction of new water or wastewater treatment facilities or
expansion of existing facilities, the construction of which could cause significant
environmental effects?
and
e) Result in a determination by the wastewater treatment provider which serves or may serve
the project that it has adequate capacity to serve the project's projected demand in addition
to the provider's existing commitments?
No Impact. The project does not propose any residential, commercial, or other land uses that would
generate wastewater or increase the demand for wastewater treatment. Therefore, there are no
impacts related to exceeding wastewater treatment or need for construction of a new water or
wastewater treatment facility.
c) Require or result in the construction of new storm water drainage facilities or expansion of
existing facilities, the construction of which could cause significant environmental effects?
No Impact. As discussed in Section IX, Hydrology and Water Quality, the project would add
approximately 9 acres of additional impervious surface area. Although the additional contribution to
23 Dublin San Ramon Services District, 2010 Urban Water Management Plan (2011). Accessed July 6,
2012. < i,tt:�: www.dsrsd.cow77 iw77 iw77 �ukrlica:�ti ns 201..0 LIWIVIP .Duw�e 201..1...:�df >.
.................@........ Z/............................................................................. ..............................I ................................................................................................................................................................................................................................ .............. @................
S 'Ii,l,(:i o[1 gheily l,o,o`m4 YY1i.tYr �!4 YY1� Y1I�
910
the Alamo Creek watershed is minimal, the project would comply with the Monitoring and Reporting
Program and all required hydromodification mitigation to minimize the rate and amount of surface
runoff discharging to receiving water bodies. Hydromodification mitigation and drainage will be
designed with the goal of maintaining preconstruction stormwater discharge flows by metering or
detaining these flows prior to discharging to a receiving water body. As part of the project, existing
culverts may be extended and /or replaced and new culverts may be installed to accommodate the
proposed roadway geometry, but the existing drainage pattern would not change. Drainage design
would aim to prevent water surface elevations and velocities from exceeding existing conditions, or
exceeding the capacity of the existing downstream facilities at the boundary of the project site.
Therefore, the project would not require construction of new or expanded storm water drainage
facilities. No mitigation is required.
d) Have sufficient water supplies available to serve the project from existing entitlements and
resources, or are new or expanded entitlements needed?
No Impact. The project does not propose any residential, commercial, or other land uses that would
consume significant amounts of water. Therefore, the project does not demand water supply
services. The landscaped median would be landscaped with plants appropriate for a drainage Swale;
these plantings are not expected to require significant supplemental watering once established. The
landscaping would utilize plantings consistent with other City rights -of -way and would not require
additional resources or expanded entitlements. No mitigation is required.
f) Be served by a landfill with sufficient permitted capacity to accommodate the project's solid
waste disposal needs?
and
g) Comply with federal, state, and local statutes and regulations related to solid waste?
Less - than - Significant Impact. The operation of the project would not generate solid waste.
However, construction activities would generate construction waste from grading and excavation
activities. The City of Dublin has an agreement with Amador Valley Industries for solid waste
removal. Project construction must comply with the City of Dublin's Waste Management Plan,
including submittal of a Waste Reduction and Recycling Form (WRRF). The WRRF must indicate
whether a 50 percent divert rate of waste generated on the job site can be achieved .24 City
Ordinance requires that 100 percent of concrete and asphalt be reused or recycled. Therefore,
impacts related to solid waste are less- than - significant. No mitigation is required.
24 City of Dublin, Construction and Demolition Debris Ordinance Process. Accessed June 7, 2012.
< 7... k: �..:.// c<.:::...... w..!: ?..:. Lw.✓.w.L.k:..!..:.cc� „!17../.C) ,c, ,w77, ,I,,t,C ..!:?. .. /.H.c� „!J 7.. /y.ieW /:.`- ...1::. >.
S 'Ii,l,(:i o[1 gheily l,o ,(:i YY1i.tYr �!4 YY1� Y1I�
c) :I.
�nitia� Study
This page intentionally left blank.
92
Duughe�yRuad�mpruvements
XV111. Mandatory Findings of Significance
Would the project:
a) Have the potential to degrade quality
of the environment, substantially reduce
the habitat of a fish or wildlife species,
cause a fish or wildlife population to drop
below self- sustaining levels, threaten to
eliminate a plant or animal community, ❑ ❑ ❑ El
the number or restrict the range
of a rare or endangered plant or animal or
eliminate important examples of the
major periods of California history or
prehistory?
b) Have impacts that are individually
limited, but cumulatively considerable?
( "Cumulatively considerable" means that
the incremental effects of a project are
considerable when viewed in connection ❑ ❑ ❑ ❑
with the effects of past projects, the
effects of other current projects, and the
effects of probable future projects)?
c) Have environmental effects which will
cause substantial adverse effects on
human beings, either directly or ❑ ❑ ❑ ❑
indirectly?
a) Have the potential to degrade quality of the environment, substantially reduce the habitat
of a fish or wildlife species, cause a fish or wildlife population to drop below self- sustaining
levels, threaten to eliminate a plant or animal community, reduce the number or restrict the
range of a rare or endangered plant or animal or eliminate important examples of the major
periods of California history or prehistory?
Less than Significant Impact. Mitigation measures are provided that adequately protect habitat,
wildlife populations, and plant and animal communities. Mitigation measures that would adequately
protect a known historical resource and any currently unknown cultural resources that may be
uncovered during project construction are also included herein. With this mitigation, the project
would not have the potential to degrade the quality of the environment; affect habitat, fish, and
wildlife species; or cultural resources.
S (:iY o[t ;'I 'P1,y ',o,(`m4 YY1C.tYr �!4 YY1� Y1f�
91
b) Have impacts that are individually limited, but cumulatively considerable? ( "Cumulatively
considerable" means that the incremental effects of a project are considerable when viewed
in connection with the effects of past projects, the effects of other current projects, and the
effects of probable future projects)?
Less - than - Significant Impact. The proposed widening of Dougherty Road, transit and bicycle facility
improvements are consistent with the Circulation Element of the City's General Plan and were
included as part of the Eastern Dublin Traffic Impact Fee Program. Through several certified
environmental documents, incorporated herein by reference the City analyzed the effects of
implementation of the impact fee program at a programmatic level. These documents are available
for review at the City of Dublin Public Works Department.
Therefore, the project would not result in any cumulatively considerable impacts that were not
previously identified in previously certified environmental documents.
c) Have environmental effects which will cause substantial adverse effects on human beings,
either directly or indirectly?
Less - than - Significant Impact. The implementation of the mitigation measures identified herein
would reduce all potential impacts to a less- than - significant level. The project would thus not result
in impacts that would cause substantial adverse effects on human beings, either directly or
indirectly.
Doiuglhcirty R,D,ald Pirclicct
an%A e
San Ramon
Gverm ore
Source: Kimley-Nom and Associates, 2022
D 2 4
MILES
Scale: 1:200,606
Project Location
Do a ri gWr e urty IIRood IV m Iw:ru irra ve rn w r t s IP it o [e (A
Legend
EDProject StudyArea /Project Site
Source: Kimley -Horn and Associates, Garcia and Associates, 2012
AL
0 1,000 2,000
FEET
Scale: 1:14,000
Project Study Area
Doughierty, IRoa d lrriqarovierrients Project
r.
rr
R
rN
L f
. . .. .. . .... V ,
I wr, en
ti
J
J
I PA 9P8 DO,9�
r' �lllllllllllllllll
E i %/ /Pam
f,111 jijrdddfi T
. ................ ..... . / / / /// , / F��
�, , ,rrr /,,, , ,r„ /r, r, /c riiii / P4�.40, 013,E
H,
.. . . ..... . . . . .... . . . . . . . . . .................. ...... . . . ............. .. . . . .................. . ... .... . .. .......... ...... .. ...... .
. .... ....... ... ... . . . . ............ . . .................
............ ............... ............. ...
.............. " ........... .
Legend
-
Project Study Area/Project Site
A � �IfffffffffffffffffffffffffffoI
Agriculture
PD 011111il
Planned Development
C-2
General Commercial
M-1
Light Industrial
R-1
Single Family Residential
(Minimum Lot Area)
Source: City of Dublin, 2011.
.25
MILES
City of Dublin Zoning Map
ty i'vo,old lilvq,'n crvenirents Proilelict
Legend
So uce: 0 ty of Dub fin, 2011
Project Study Area /Project Site
Business Park/Industrial
Parks/Public Recreation
Business Park/Industrial and Outdorr Storage
MILE
Open Space
Mixed Use
Public Lands
Single Family Residential (0.9-6.0 du/aG) 0 25 .50
Public/Semi-Public
MediurrVHigh-DesityResidentail and Retail Office MILES
Retail /Office
Medium-Density R esid enti al (6.1-14.0 du/aG)
R et ai 1 /0 ff i ce a nd Auto moti ve
JIM
M ed i u rn,11H i g h -D e ns ity R es id enti a 1 (14.1-2 5. 0 d u/ac)
Campus Office
High - Density Residential (25.1 + du/aG)
City of Dublin General Plan Map Land Use Map
So uce: 0 ty of Dub fin, 2011
DougIheirty Road Ilirn''npiroveir'n'nei t Piroje( °:t
MEDIAN � � � ".40TOY-7,
VARIES
SIDE
BIKE
LANE
LANE
LANE
4' MEDIAN
LANE
LANE
LANE
BIKE
SIDE
WALK
LANE
TAPER
LANE
WALK
TRANSITION
— R' --
R' --
11 1Y --
111' --
111' --
A -1-Y —
11 ' —
111' --
11 -V
-Y-
MEDIAN � & &
VARIES
SIDE
BIKE
LANE
LANE
LANE
4' MEDIAN
LANE
LANE
LANE
BIKE
SIDE
WALK
LANE
WITH 11'
LANE
WALK
TURN LANE
Not to Scale
Typical Schematic Cross - Sections: Dougherty Road
from Sierra Lane to Scarlett Drive
Source: Kimley -Horn and Associates, Inc., 2012.
Dougheilr y Road IlirnlpiroveirneiM Piroje( °AU
SIDE
TURN LANE
BIKE
LANE
LANE
LANE
TURN
MEDIAN
LANE
LANE
LANE
BIKE
WALK
BIKE
WALK
/ARIES TO 01)
LANE
WITH 11'
LANE
VARIES
PATH
LANE
PATH
TURN LANE
TO 15
--
d -iF' --
— 7' -
19 IV-1—
R' --
11 1Y --
11 1Y --
11 1Y --
11
— A' --
11 1Y --
11 1Y --
11 1Y --
R' -
--
R' —
Drains to Median
SIDE
BIKE
LANE
LANE
LANE
4' MEDIAN
LANE
LANE
LANE
BIKE
BIKE
WALK
LANE
WITH 11'
LANE
PATH
TURN LANE
--
d -iF' --
11
Drains to Median
Not to Scale
Typical Schematic Cross - Sections: Dougherty Road
from Scarlett Drive to Amador Vallev Boulevard
Source: Kimley -Horn and Associates, Inc., 2012.
Douglheirt:y Roaal Ilirn''npiroveir'n'neiutp Piroje( °:t:
SIDE
BIKE
LANE
LANE
LANE
4' MEDIAN
LANE
LANE
LANE
BIKE
BIKE
WALK
LANE
WITH 11'
LANE
PATH
TURN LANE
TYPICAL 15'
11-91 ' --
11
Drains to Median
Not to Scale
Typical Schematic Cross - Sections: Dougherty Road
from Amador Vallev Boulevard to North Citv Limits
Source: Kimley -Horn and Associates, Inc., 2012.
Dougherty Road hiproveinents Flr¢a,yect
Note: Please see figure 9 for cross sections called out below.
A B C
dra nage '� I L--+ l� �', 1 �—dra nage t—
AB' - ,e C,
meadow stream river birch grove sycamore stand river birch
(bio retenwn area)
one drainage basin
TYPICAL MEDIAN LANDSCAPE PLAN (450 LINEAR FEET TYP.)
Typical Median Landscape Plan
Source: Kimley -Horn and ASSaclates, Inc., 2012.
meadow stream
��'
DOu"ugherty Road knpo"oveunents Po"e.Oct
GROVE STREAM —
CHANNEL
• 4 -5" river cobble
• 8 -12" tumbled river rock
• 3- G' stone slabs (between
transition areas)
18" city standard
median paver band (typ.)
River birch
Betula nigro
v GROVE
UNDERSTORY
• Purple three -awn
KF Aristldapurpurea
• 'Leather leaf' Coffeeberry
Arotda purpurea
` Linseed Flax
U'uumm Usaosslmum
SECTION A -A': RIVER BIRCH GROVE
A grove of river birch trees with evergreen
understory forms a riparian habitat.
SECTION B -B': SYCAMORE STAND
Lined with sycamore trees this section express a parklike
dry creek setting with California native shrubs.
SECTION C -C': MEADOW STREAM (BIO RETENTION AREA)
Composed of rushes, this area imitates a wetland habitat
but is drought tolerant enough to handle California seasons. _
Median Concept: Sections
Source: Kimley -Horn and Associates, Inc., 2012.
j", f, "AR sr X`14'111�17111 California sycamore
1, to us racemoso
SYCAMORE STAND
UNDERSTORY
I
% /
r'IN +4t
iu
,k
rr
Cleveland sage
ScNia
M i1
A
C—Prag ago
STAND STREAM
b
CHANNEL
18" city standard
4-6" river cobble
modian paver band (typ.)
8-12" t—bled river ... k
3-61 stone slabs (between
li transition areas)
SECTION B -B': SYCAMORE STAND
Lined with sycamore trees this section express a parklike
dry creek setting with California native shrubs.
SECTION C -C': MEADOW STREAM (BIO RETENTION AREA)
Composed of rushes, this area imitates a wetland habitat
but is drought tolerant enough to handle California seasons. _
Median Concept: Sections
Source: Kimley -Horn and Associates, Inc., 2012.
Do a ri gWr e it Ly IIRood IV rwi Iw:ru iro ve rn e r t s IP r o [e (A
Proj
Legend
Measurement /Receiver Locations
Additional Receiver Locations
Measurement -Only Locations
AL
0 1,000 2,000
FEET
Scale: 1:14,060
Project Vicinity and Noise Measurement /Modeling Locations
Source: Bing, Mingworth R Rod0n, fnc., 2012.
DOUGHERTY ROAD PROJECT
MITIGATION MONITORING AND REPORTING PROGRAM
Air Quality
The project is not likely to
Significant Mitigation Measure AQ -1: During demolition or any construction
expose sensitive receptors
Unless ground disturbance, implement measures to control dust and
to substantial pollutant
Mitigation exhaust. The contractor shall implement the following Best
concentrations. However,
Incorporated Management Practices, which are recommended by BAAQMD and
best management practices
are required of all projects:
are necessary during
1. All exposed surfaces (e.g., parking areas, staging areas, soil piles,
demolition, trenching, and
graded areas, and unpaved access roads) shall be watered two times
grading activities to avoid
per day.
generation of dust that
2. All haul trucks transporting soil, sand, or other loose material off -
may affect nearby sensitive
site shall be covered.
receptors
3. All visible mud or dirt track -out onto adjacent public roads shall be
removed using wet power vacuum street sweepers at least once per
day. The use of dry power sweeping is prohibited.
4. All vehicle speeds on unpaved roads shall be limited to 15 mph.
5. All roadways, driveways, and sidewalks to be paved shall be
completed as soon as possible. Building pads shall be laid as soon as
possible after grading unless seeding or soil binders are used.
6. Idling times shall be minimized either by shutting equipment off
when not in use or reducing the maximum idling time to 5 minutes
(as required by the California airborne toxics control measure Title
13, Section 2485 of California Code of Regulations [CCR]). Clear
signage shall be provided for construction workers at all access
points.
Less -than- City of Dublin During construction
significant
Dougherty Road Improvements Project 1 City of Dublin
Mitigation Monitoring and Reporting Program January 2013
Biological Resources
The project would have
potentially significant
impacts to the following
animal species because of
physical observation or the
presence of suitable
habitat:
• California Red - legged
Frog
• California Tiger
Salamander
• Western Pond Turtle
• Burrowing Owl
• Tricolored Blackbird
• California Horned Lark
• White - tailed Kite
• Nesting Birds
• American Badger
• San Joaquin Kit Fox
Potentially
Mitigation Measure 13I0-1: Biological Training and Best Practices Less -than-
Significant
Unless
significant
Prior to the start of construction, a qualified biologist shall conduct
Mitigation
an environmental training session (Worker's Environmental
Incorporated
Awareness Program) for all construction personnel. The training
shall include a description of the listed species with potential to
occur on the project study area, a report of the occurrence of the
species on the project study area, their habitats, an explanation of
the status of the species and their protection under the
Endangered Species Act, and the avoidance and minimization
measures that are being implemented to reduce impacts to the
species on -site. A fact sheet conveying this information shall be
prepared for all personnel associated with the project and for
anyone else who may enter the site. On completion of training,
employees shall sign a form stating that they attended the training
and understand all the conservation and protective measures.
• During project activities, all trash that may attract predators shall
be properly contained, removed from the site, and disposed of
regularly. Following construction, all trash and construction debris
from the site shall be removed.
• All fueling and maintenance of vehicles and other equipment and
staging areas shall occur at least 100 feet (30.5 meters) from any
riparian habitat, water body, or drainage feature. The construction
contractor shall ensure contamination of habitat does not occur
during such operations.
• Prior to the start of construction, the construction contractor shall
prepare a plan to ensure a prompt and effective response to any
accidental spills. All workers shall be informed of the importance
of preventing spills and of the appropriate measures to take should
a spill occur.
City of Dublin Pre - construction,
during construction
Dougherty Road Improvements Project 2 City of Dublin
Mitigation Monitoring and Reporting Program January 2013
Best management practice (BMP) erosion control measures shall
be implemented to reduce sedimentation in wetland habitat
occupied by covered animal and plant species when activities are
the source of potential erosion problems. Plastic mono - filament
netting or similar material for erosion control shall not be
permitted. Acceptable substitutes include coconut coir matting or
tackified hydroseeding compounds.
Mitigation Measure 13I0-2:
• A qualified biologist shall conduct a visual encounter survey for
California red - legged frogs at the work sites two weeks before the
onset of activities and again immediately prior to commencing
ground- disturbing activities.
• An environmentally sensitive area (ESA) and exclusion zone shall
be established around the freshwater marsh on -site by a qualified
biologist. The ESA and exclusion zone shall be fenced with erosion
control fencing (in a manner consistent with Mitigation Measure
BIO -1) and marked with high visibility fencing. The exclusion zone
shall encompass the maximum practicable distance from the work
site and the aquatic feature (wet or dry).
• As the work site is within the typical dispersal distance of potential
breeding habitat, barrier fencing shall be constructed around the
worksite to prevent amphibians from entering the work area.
Barrier fencing shall be removed within 72 hours of completion of
work.
• A qualified biologist shall be present for initial ground- disturbing
activities. The biologist shall have authority to stop any work that
may result in impacts to CRLF. If the biologist exercises this
authority, the USFWS and the CDFW will be notified by telephone
and electronic mail within 2 working days.
Less -than- City of Dublin Pre - construction,
significant during construction
Dougherty Road Improvements Project 3 City of Dublin
Mitigation Monitoring and Reporting Program January 2013
If CRLF are encountered in the project area, work within the
immediate vicinity shall cease immediately and the City shall
engage a qualified biologist possessing a valid ESA Section
10(a)(1)(A) permit or is Service - approved under an active biological
opinion. Based on the professional judgment of the biologist, if
project activities can be conducted without harming or injuring the
CRLF, the individual(s) shall be left at the location of discovery and
monitored by the biologist. All project personnel shall be notified
of the finding and at no time shall work occur within the vicinity of
the listed species without a biological monitor present. If it is
determined by the biologist that relocating the CRLF is necessary,
the USFWS will be contacted to consult regarding translocation
outside of the project area.
• No monofilament plastic shall be used for erosion control.
• The construction contractor shall implement Best Management
Practices (BMPs) to control erosion during and after project
implementation.
• Construction personnel shall inspect open trenches each morning
and evening of construction for any trapped CRLF.
• Work shall be avoided within suitable habitat areas from October
15 (or the first measurable fall rain of 1 inch or greater) to May 1.
Mitigation Measure 13I0-3: Less -than- City of Dublin Pre - construction,
significant during construction
Pre - Construction Activities
• Prior to the initiation of construction, the City shall obtain an
incidental take permit (ITP) from the CDFW. Any additional
conditions set forth in the ITP to avoid or minimize impacts to CTS
shall be incorporated into the project.
• A qualified biologist shall conduct a pre- construction survey in the
immediate area of construction and where equipment will be
located and construction activities will occur. Pre - construction
survey methodology will conform to that specified in the above-
Dougherty Road Improvements Project 4 City of Dublin
Mitigation Monitoring and Reporting Program January 2013
referenced ITP.
• An environmentally sensitive area (ESA) and exclusion zone shall
be established around the freshwater march on -site by a qualified
biologist. The ESA and exclusion zone shall be fenced with erosion
control fencing (in a manner consistent with Mitigation Measure
13I0-1) and marked with high visibility fencing. The exclusion zone
shall encompass the maximum practicable distance from the work
site the aquatic feature (wet or dry).
Prior to initiating project construction activities, the City shall
install temporary exclusion fencing between the project area and
habitat in Camp Parks. The City shall coordinate with Camp Parks
to install permanent exclusion fencing on the existing fence
between Camp Parks and Dougherty Road, as feasible. Permanent
exclusion fencing would be installed at the completion of
construction activities, or temporary exclusion fencing would be
made permanent.
Activities During Construction
A qualified biologist shall be present for initial ground- disturbing
activities. The biologist shall have the authority to stop any work
that may result in impacts to CTS. If the biologist exercises this
authority, the USFWS and the CDFW shall be notified by telephone
and electronic mail within 2 working days.
• If CTS are encountered in the project area, work within the
immediate vicinity shall cease immediately and the City shall
engage a qualified biologist to determine if project activities can be
conducted without harming or injuring the CTS, in which case the
individual(s) shall be left at the location of discovery and
monitored by the biologist. All project personnel shall be notified
of the finding and at no time will work occur within the vicinity of
the listed species without a biological monitor present. USFWS
and CDFW shall be notified and determination shall be made as to
Dougherty Road Improvements Project 5 City of Dublin
Mitigation Monitoring and Reporting Program January 2013
the method of relocation, if necessary. At no time shall CTS be
handled without an ITP from CDFW.
• No monofilament plastic shall be used for erosion control.
• Construction personnel shall inspect open trenches each morning
and evening of construction for trapped CTS.
• To control erosion during and after project implementation, the
construction contractor will implement Best Management
Practices (BMPs).1
• Work will be avoided within suitable habitat during the rainy
season as recommended in the East Alameda County Conservation
Strategy (EACCS 2010), from October 15 (or the first measurable
fall rain of 1 inch or greater) to May 1, or as otherwise determined
in the ITP.
Mitigation Measure 113I0-4: Prior to construction within the pond Less -than- City of Dublin Pre - construction,
and in the 325 -foot buffer, conduct a visual survey for turtle and /or significant during construction
nests (eggs). Avoid active nests or turtles by means of installation of
an exclusion fence between the freshwater marsh and the work area
or by establishing a buffer of limited construction activity during
construction to avoid impacts to identified nests.
Mitigation Measure 113I0-5: The City will implement measures Less -than- City of Dublin Pre - construction,
outlined in the CDFW's Staff Report on Burrowing Owl Mitigation significant during construction
(CDFW 2012), along with informal consultation with CDFW, to
determine potential effects of the proposed project and the required
mitigation.
As a habitat assessment has identified potentially suitable burrowing
owl habitat within the project site (GANDA 2012), prior to project
initiation occupancy surveys — as defined in CDFW's Staff Report on
Burrowing Owl Mitigation (2012) — shall be conducted by a qualified
1 As discussed in section IX. Hydrology and Water Quality, Best Management Practices are included in the City of Dublin's NPDES permit.
Dougherty Road Improvements Project 6 City of Dublin
Mitigation Monitoring and Reporting Program January 2013
biologist. If burrowing owls are found to occupy burrowing owl
habitat in or adjoining the project area, avoidance and minimization
measures will be determined in consultation with CDFW and may
include:
• An impact assessment by a qualified biologist to determine all
factors that could affect burrowing owls, including type and extent
of disturbance, duration and timing of impact, visibility and
sensitivity, environmental factors, significance of impacts,
cumulative effects, and mitigation goals.
• A burrowing owl habitat mitigation plan, based on the results of
the impact assessment, in consultation with and subject to review
and approval by CDFW.
• Pre - construction surveys by a qualified biologist of areas within
150 meters (about 492 feet) of the project study area to begin no
less than 14 days and no more than 30 days prior to initiating
ground disturbance activities to avoid "take" of burrowing owls
and their nests. Pre - construction survey results should be
submitted to CDFW for review and approval.
• Monitoring by a qualified biologist during site disturbance to
prevent impacts to burrowing owls identified during pre -
construction surveys.
• Establishing buffer zones, visual screens, or other measures during
project activities to minimize disturbance impacts to nesting sites.
Limits of buffers zone must be clearly marked with signs, flagging,
or fencing. Appropriate buffer zones would be determined in
consultation with CDFW. Restricted activity dates and buffer zones
recommended in the CDFW Staff Report on Burrowing Owl
Mitigation (2012) include:
Dougherty Road Improvements Project 7 City of Dublin
Mitigation Monitoring and Reporting Program January 2013
Time of Year
Level of Disturbance
Low
Medium
High
April 1 -Aug 15
200 meters
(about 656 feet)
500 meters
(about 1640 feet)
500 meters
(about 1640 feet)
Aug 16 -Oct 15
200 meters
(about 656 feet)
200 meters
(about 656 feet)
500 meters
(about 1640 feet)
Oct 16 -Mar 31
50 meters
(about 164 feet)
100 meters
(about 328 feet)
500 meters
(about 1640 feet)
Source: CDFW, Staff Report on Burrowing Owl Mitigation, 2012
Compensatory mitigation through the purchase of credits at an
approved mitigation bank, based on habitat acreage, number of
burrows, and burrowing owls impacted, in areas where buffer
zones are not practicable -- particularly due to access restrictions
associated with the proximity of PRFTA — for temporary and /or
permanent impacts to nesting, occupied and satellite burrows,
and /or burrowing owl habitat. Mitigation would be determined in
consultation with CDFW.
Burrow exclusion, during the non - breeding season to permanently
exclude burrowing owls and close burrows, for areas that may be
permanently impacted by the proposed project. Burrow exclusion
and /or closure would be conducted under a CDFW burrowing owl
exclusion plan.
Site surveillance by a qualified biologist during project activities to
detect burrowing owls that attempt to colonize or re- colonize an
area that will be impacted.
Restoration of temporary habitat impacts within the proposed
project area to pre - project conditions.
Dougherty Road Improvements Project 8 City of Dublin
Mitigation Monitoring and Reporting Program January 2013
Mitigation Measure BIO -6:
To the extent feasible, carry out project construction activities such
as tree removal and /or tree trimming, excavation, grading, and the
operation of heavy equipment between September 1 and January
31, outside of the nesting season, to avoid or minimize potential
impacts to nesting birds.
If project construction activities must occur during the nesting
season (from February 1 to August 31) a qualified wildlife biologist
shall conduct pre- construction surveys for nesting birds. During
the surveys, the qualified biologist shall carefully search for active
nests /burrows within the work zone and a surrounding buffer
zone.
If an active nest is found during the pre- construction survey, the
bird species shall be identified and the approximate distance from
the closest work site to the nest shall be estimated. Appropriate
buffer distances shall be established by a qualified biologist. If
active nests are closer than the appropriate buffer distance to the
nearest work site then the active nest(s) shall be monitored for
signs of disturbance. Disturbance of active nests shall be avoided
until it is determined that nesting is complete and the young have
fledged.
Mitigation Measure BIO -7:
• Conduct pre- construction surveys for suitable dens /burrows prior
to any ground- disturbing activities.
• All suitable burrows shall be flagged by a qualified biologist and
avoided by crews; if avoidance is not feasible, consultation with
California Department of Fish and Game should occur.
• Avoidance measures may include designation of an exclusion zone
around potential dens during the breeding period (summer
through early fall) and hand excavation of dens during the non -
breeding period.
• A qualified biologist shall be present during construction to
monitor any activities within 100 feet of an occupied den.
Less -than- City of Dublin Pre - construction,
significant during construction
Less -than- City of Dublin Pre - construction,
significant during construction
Dougherty Road Improvements Project 9 City of Dublin
Mitigation Monitoring and Reporting Program January 2013
• In addition, the standard recommendations for avoidance and
minimization measures for San Joaquin kit fox are also applicable
to American badger (Sacramento Fish and Wildlife Office 2011).
Mitigation Measure 13I0-8: Conduct pre- construction surveys no less Less -than-
than fourteen days and no more than thirty days prior to the significant
beginning of ground- disturbance and /or construction activities or any
project activity likely to impact the San Joaquin kit fox. Surveys shall
identify kit fox habitat features on the project study area and
evaluate use by kit fox and, if possible, assess the potential impacts
to the kit fox by the proposed activity. If a natal /pupping den is
discovered within the project study area or within 200 feet of the
project boundary, the USFWS must be notified immediately.
• Exclusion zones around any identified kit fox dens must have radii
measured outward from the entrance. The following are
minimums; if they cannot be met USFWS must be contacted.
• Potential den — 50 feet
• Known den — 100 feet
• Natal /pupping den (occupied and unoccupied) — Contact
USFWS.
o Atypical den — 50 feet
Project - related vehicles must observe a 20 -mph speed limit
throughout the project study area, except on county or city roads
and state or federal highways. Prohibit off -road traffic outside of
designated project.
A qualified biologist shall be on -site or on -call during all
construction activities that could impact San Joaquin kit fox. If a kit
fox is observed in the work area, the USFWS- approved biologist
shall have the authority to stop work within 100 feet until the kit
fox leaves the area on its own volition. Kit foxes are attracted to
den -like structures such as pipes and may enter stored pipe
becoming trapped or injured. All construction pipes, culverts, or
similar structures with a diameter of 4 inches (in.) or greater that
are stored at a construction site for one (1) or more overnieht
City of Dublin Pre - construction,
during construction
Dougherty Road Improvements Project 10 City of Dublin
Mitigation Monitoring and Reporting Program January 2013
periods shall be thoroughly inspected for kit foxes before the pipe
is subsequently buried, capped, or otherwise used or moved in any
way. If a kit fox is discovered inside a pipe, that section of pipe
shall not be moved until USFWS has been consulted. If necessary,
and under the direct supervision of the biologist, the pipe may be
moved once to remove it from the path of construction activity,
until the fox has escaped.
Cultural Resources
The project could
Potentially
Mitigation Measure CUL -1: Prior to beginning project - related
potentially cause a
Significant
construction activities, the Camp Parks entrance sign shall be
substantial adverse change
Unless
removed from its original location and relocated in a setting
in the significance the
Mitigation
compatible with the original character and use of the entrance sign.
Camp Parks entrance sign,
Incorporated
The entrance sign's new location shall allow the sign to retain its
which is a historical
historic features and compatibility in orientation, setting, and general
resource as defined in
environment.
Section 15064.5
Any one of the three options identified below would allow the
entrance sign to retain its eligibility for listing on the federal and state
register of historic resources:
Option 1: Relocate the Camp Parks entrance sign to outside the
project site and closer to Adams Avenue and 5th Street on the
Camp Parks property, 30 to 60 meters (about 98 to 196 feet) east
of its current location. The sign shall be reinstalled in its original
orientation facing Dougherty Road.
Option 2: Relocate the sign to an appropriate new permanent
location within the current or former boundaries of Camp Parks.
This new location would be selected through negotiations between
the City of Dublin, the U.S. Army, and any other responsible or
involved parties or entities.
Option 3: Incorporate the sign into the planning of the future
development on Camp Parks lands. This option would require
temporary storage of the sign under stewardship of the City of
Dublin, the U.S. Army, or an appropriate non - profit historic
Less -than- City of Dublin Pre - construction
significant
Dougherty Road Improvements Project 11 City of Dublin
Mitigation Monitoring and Reporting Program January 2013
preservation organization, such as the Dublin Historical
Preservation Association, until it can be incorporated into future
development on Camp Parks as outlined in Option 2 above.
Whichever option is implemented, all activity related to the
relocation and storage of the entrance sign shall conform to the
standards outlined in the Secretary of the Interior's Standards for the
Treatment of Historic Properties with Guidelines for Preserving,
Rehabilitating, Restoring, and Reconstructing Historic Buildings
(Weeks and Grimmer 1995). CEQA Guidelines §15064.5(b)(3)
indicate that, "generally, a project that follows the Secretary of the
Interior's Standards for the Treatment of Historic Properties with
Guidelines for Preserving, Rehabilitating, Restoring, and
Reconstructing Historic Buildings or the Secretary of the Interior's
Standards for Rehabilitation and Guidelines for Rehabilitating Historic
Buildings (Weeks and Grimmer 1995), shall be considered as
mitigated to a level of less than a significant impact on the historical
resource."
The project could
Potentially
Mitigation Measure CUL -2: In the event that unrecorded Less -than- City of Dublin During construction
potentially cause a
Significant
archaeological resources are encountered during any phase of significant
substantial adverse change
unless
project construction, the project contractor shall temporarily halt
in the significance of an
Mitigation
construction and /or grading activities within 25 feet of any find until
archaeological resource,
Incorporated
a qualified archaeologist meeting federal criteria under 36 CFR 61 can
pursuant to Section
assess the significance of the find and provide proper management
15064.5
and recommendations. A qualified archaeological monitor shall
inspect the findings within 24 hours of discovery. Prehistoric cultural
materials include but are not limited to midden deposits, hearth
remains, stone and /or shell artifacts, and /or burials. Historic
material, including but not limited to whole or fragmentary ceramic,
glass or metal objects, wood, nails, brick, or other materials may
occur within the project site in deposits such as old privies, dumps, or
as part of earlier fill.
While prehistoric or historic cultural resources would ideally be
Dougherty Road Improvements Project
12 City of Dublin
Mitigation Monitoring and Reporting Program
January 2013
avoided, if any such resources could not feasibly be avoided, they
shall be evaluated for their potential historic significance in
consultation with the City of Dublin. If the resources are found to be
ineligible for any historic register, impacts to such resources would
not be considered significant and avoidance would thus not be
necessary. If the resources are found to be eligible to the CRHR, they
shall be avoided if feasible.
If avoidance is not feasible, project impacts will be mitigated in
accordance with the recommendations of the evaluating
archaeologist and CEQA Guidelines §15126.4 (b)(3)(C), which require
development and implementation of a data recovery plan that would
include recommendations for the treatment of the discovered
archaeological materials. The data recovery plan will be submitted to
the City of Dublin for review and approval. Upon approval and
completion of the data recovery program, project construction
activity within the area of the find may resume, and the archaeologist
will prepare a report documenting the methods and findings. The
report will be submitted to the City of Dublin. Once the report is
reviewed and approved by the City of Dublin, a copy of the report will
be submitted to the Northwest Information Center (NWIC). After any
appropriate resource recovery and /or mitigation measures are
completed, project construction activity within the area of the find
may resume.
Mitigation Measure CUL -3: Prior to the issuance of grading permits, Less -than- City of Dublin Pre - construction
the City of Dublin shall require that the project contractor provide significant
documentation that all construction crews that will work on the
project have undergone a training session to inform them of the
potential for previously undiscovered archaeological resources within
the project site, of the laws protecting these resources and
associated penalties, and of the procedures to follow should they
discover cultural resources during project - related work.
The project could Potentially Mitigation Measure CUL -4: In the event that paleontological Less -than- City of Dublin During construction
Dougherty Road Improvements Project 13 City of Dublin
Mitigation Monitoring and Reporting Program January 2013
mmll.�.
potentially directly or Significant resources are encountered during anv chase of oroiect construction. significant
indirectly destroy a unique Unless all soil- disturbing activity within 100 feet of the find shall be
paleontological resource, Mitigation temporarily halted until a qualified paleontologist can assess the
site, or unique geologic Incorporated significance of the find and provide proper management
features. recommendations. The City shall incorporate all feasible
recommendations into the project.
The project could Potentially
Mitigation Measure CUL -5: Section 7050.5(b) of the California Health Less -than-
potentially disturb human Significant
and Safety code shall be implemented in the event that human significant
remains, including those Unless
remains, or possible human remains, are located during project -
interred outside of formal Mitigation
related construction excavation. If human remains are discovered
cemeteries. Incorporated
within the project site during construction, all work shall be stopped
within 25 feet of the discovery and the contractor shall immediately
notify the Alameda County Coroner. At the same time, a qualified
archaeologist meeting federal criteria under 36 CFR 61 shall be
contacted to assess the situation and consult with the appropriate
agencies. If the human remains are of Native American origin, the
Coroner shall notify the Native American Heritage Commission within
twenty -four hours of this identification. The Native American
Heritage Commission will identify a Most Likely Descendant (MILD) to
inspect the site and provide recommendations for the proper
treatment of the remains and any associated grave goods. Upon
completion of the assessment, the qualified archaeologist shall
prepare a report documenting the background to the finds, and
provide recommendations for the treatment of the human remains
and any associated cultural materials, as appropriate and in
coordination with the recommendations of the MILD. The report
shall be submitted to the City of Dublin, the County of Alameda, and
the Northwest Information Center. Once the report is reviewed and
approved by the agencies identified above, and any appropriate
treatment completed, project construction activity within the area of
the find may resume.
City of Dublin During construction
Dougherty Road Improvements Project 14 City of Dublin
Mitigation Monitoring and Reporting Program January 2013
Geology & Soils
The project may traverse Potentially Mitigation Measure GEO -1: A qualified geotechnical engineer shall Less -than- City of Dublin Design
soils with high plasticity Significant identify appropriate pavement types for project site soil conditions. significant
and relatively low Unless The recommendations of the geotechnical engineer shall be
resistivity values. Mitigation incorporated into final design plans.
Incorporated
Hazards & Hazardous
Materials
The project could
potentially create a
significant hazard to the
public or the environment
through reasonably
foreseeable upset and
accident conditions
involving the release of
hazardous materials into
the environment.
Mitigation Measure HAZ -1: Prior to the issuance of a grading permit,
a Phase II site investigation shall be conducted to sample the soils on
the project site to ascertain the extent of potential environmental
impairments and to establish appropriate protocols for the collection
and safe disposal of any contaminated soils and /or groundwater. All
recommended remediation, soil material management, and /or
disposal protocols of the Phase II investigation shall be conditions of
project approval.
Mitigation Measure HAZ -2: To avoid or minimize conflicts with the
existing Kinder Morgan Energy petroleum pipeline, contractors and
the City of Dublin shall coordinate closely with Kinder Morgan Energy
in the development of final design plans. Project contractors shall
notify Kinder Morgan Energy in advance of any planned excavation at
or near the petroleum pipeline. If necessary, the City shall
encase /protect pipelines to minimize any possible conflict.
Less -than- City of Dublin Pre - construction
significant
Less -than- City of Dublin During construction
significant
Dougherty Road Improvements Project 15 City of Dublin
Mitigation Monitoring and Reporting Program January 2013