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HomeMy WebLinkAboutItem 6.3 DubRchWest Attch 2 I I I I I I I I I I I I I I I I I I I Table of Contents Introduction......................................................................................... 2 Clarifications and Modifications to the DEIR......................................... 2 Summary of DSEIR Comment Letters ................................................... 7 Annotated Comment Letters and Responses........................................ 9 I I I I I I I I I I I I I I I I I I I Introduction A Draft Supplemental Environmental Impact Report (DSEIR) dated November 2004 was prepared for this Project and distributed for public review in November 2004 through January 2005. The proposed Project involves consideration of an Amendment to the Eastern Dublin General Plan and Specific Plan, annexation to the City of Dublin and the Dublin San Ramon Services District, prezoning of the Project area, a preannexation agreement and a Stage 1 Planl1ed Development Plan for the Dublil1 Ranch West Project located on the west side of Tassajara Road, east of Parks RFTA, north of existil1g City of Dublin limits and south of the Alameda County limit lil1e. The Project site consists of approximately 190 acres of land in the unincorporated portion of Alameda County. A full description of the proposed Project is cOl1tained in the DSEIR document. Ul1der the California Enviro11ffiental Quality Act (CEQA) and implementing CEQA Guidelil1es, after completion of the Draft EIR, lead agencies are required to consult with and obtain comments from public agencies and organizatiol1s having jurisdiction by law over elements of the Project and to provide the general public with an opportunity to comment on the DSEIR. Lead agencies are also required to respol1d to substantive comments on enviro11ffiental issues raised during the EIR review period. As the lead agency for this Project, the City of Dublin held a 45-day public review period between November 19, 2004 and January 3, 2005. This Comments and Responses document augmel1ts the DSEIR and, together with the DSEIR, comprise the Final Supplemental EIR (FSEIR) for this Project. This Comments and Responses document contains all public comments received during the 45-day public review process regarding the DSEIR and responses to those comments. Included within the document is an annotated copy of each COmmel1t letter, identifyil1g specific comments, followed by a response to that comment. The FSEIR also contains clarifications and minor corrections to information presented in the DSEIR as well as revisions to the proposed Project. Clarifications and Modifications to the DSEIR The following clarifications and modifications to the DSEIR are incorporated by reference into the DSEIR document. 1. On page 14, "9.7" is replaced with "3.7." 2. On page 18 (Utility Services), the word "westerly" is replaced with "easterly." 3. On page 56, the text of the DSElR is amended to read as follows in two places on this page: Dublin Ranch West Final Supplemental EIR City of Dublin Page 2 February 2005 I I I I I I I I I I I I I I I I I I I "In addition, HTH relocated a number of CRLF from dsewkere on the Dublin Ranch West site into Tassajara Creek, in anticipation of management as part of the Tassajara Creek Management Zone." "Since approval of the 1993 Eastern Dublin EIR, the California tiger salamander has been listed as threatened and critical habitat has been designated proposed. ... All of the Project area to the west of Tassajara Creek is within proposed critical habitat Unit 18 of the Central Valley Region." 4. On page 60, the impact bullet is revised to read as follows: "Substantially-Rreduce the number or restrict the range of an endangered, rare or threatened species;" 5. Page 64, Supplemental Mitigation Measure SM-BIO-l is hereby amended to read as follows: U A CTS management plan shall be developed by the Project proponents, and approved by the G1;y of Dublin in consultation with CDFG and the USFWS, prior to construction activities. This measure shall also apply to construction of recreational trails in preserved areas. The Plan will detail how CIS will be managed before and during construction activities and will include the following: a) Installation of a temporary herpetological fence prior to any ground disturbance around the entire development footprint, which shall prevent CTS from entering the construction site and shall remain until the permanent fence or barrier is installed. The existing Of the CUFreRt one-way barrier, if approved by the USFWS. is a functioning temporary banier: however. it is not located around the entire development footprint. is eJlteRàeà and approyeà fsr aGe by the UgPWfii (S11M BIO 2). A maintenance schedule shall be included for this fencing. b) A salvage trapping <æà relscaRen plan that details how aestivating CTS individuals will be adequately relocated from the development footprint and into permanently preserved suitable aestivation habitat. Although the existing one-way exclusion banier will allow migrating breedin¡: adults to exit the prqject area. non-breeding adults and juveniles may not migrate to potential breeding sites for one or more years. Salvage of these individuals should be accelerated by installation of trap arrays near burrow concentrations." 6. On page 64, Supplemental Mitigation Measure SM-BIO-2 is revised as follows: " A permanent herpetological fence or barrier shall be installed around the entire development footprint following construction activities to prevent movement of CTS into the development area. Such fencing shall be designed to allow for movement of larger terrestrial wildlife species, but shall preclude Dublin Ranch West Final Supplemental EIR City of Dublin Page 3 February 2005 I I I I I I I I I I I I I I I I I I I ~J~:~~; i~i;::Z~~~~; ~~~)~te~:~ ~:=t dJ:=g~~~~~;::~:~; 7. Page 64, Supplemental Mitigation Measure SM-BIO-3 is deleted. 8. On page 64, Supplemental Mitigation Measure SM-BIO-4 is revised as follows: "To compensate for the permanent loss of approximately 2Z.2 m acres of CIS aestivation habitat, and ensure the opportunit;y exist~ for recovery of this species within the Amador and Livermore Valley areas of Alameda Coun1;y. the Project proponent will acquire and preserve in perpetuity suitable CIS aestivation habitat at a 1:1 ratio adjacent to preserved, occupied CTS breeding and aestivation habitat and construct a breeding pond, or as required by the USFWS and CDFG. The mitigation aestivation habitat shall be located in the Amador and Livermore Valley area as close as is practicable. and as aPkoved by the USFWS or CDFG. and shall exhibit similar characteristics to the bitat lost. In selecting off-site mitigation lands, preference shall be given to preserving one large block of habitat rather than many small parcels, linking preserved areas to existing open space and other high quality habitat, and excluding or limiting public use within preserved areas. Land selected for mitigation shall be permanently preserved through use of a conservation easement or similar m.ethod, approved by the City of Dublin in consultation with the USFWS or CDFG, and obtained prior to the issuance of any construction permits." 9. On page 65, Supplemental Mitigation Measure SM-BIO-7 is revised as follows: "During initial ground disturbing activities. All pfoject construction employees shall receive an educational training program that includes information on sensitive species identification and their potential habitat, approved mitigation measures for the project, and actions em.ployees should take if a sensitive species is encountered. This measure shall also apply to construction of recreational trails in preserved areas." 10. Page 67, Supplemental Mitigation Measure SM-BIO-9 is revised as follows: "a) Prior to construction of the proposed bridges, a map shall be prepared to delineate CRLF breeding habitat, construction and laydown areas, and areas of proposed temporary fill within Tassajara Creek. Pre- construction surveys within these areas shall be conducted by a qualified biologist (as approved by the City) with appropriate authorization to handle CRLF. If CRLF or CIS are found within the construction areas (er et;flcr sCRoitive wilèlife spccies), they shall be immediately moved to undisturbed, preserved portions of Tassajara Creek if authorized in a Biological Opinion or other permit issued by the USFWS for the Project. Construction, laydown, and temporary fill areas shall be fenced appropriately to prohibit CRLF and CIS movement into these areas, as supervised and verified by a qualified Dublin Ranch West Final Supplemental EIR City of Dublin Page 4 February 2005 I I I I I I I I I I I I I I I I I I I biologist. Construction activities and access shall be confined to these fenced areas during construction activities. A qualified biologist will monitor the fence and construction activities daily when construction activities are conducted within Tassajara Creek. A qJ1alified biologist with appropriate authorization peFHIits to relocate a£Pf CRLF or CTS in conjunction wit], a biological opinion shall be available to the on-site biological monitor if CRLF or CIS (or othef seRsiävc wildlife species) are found within the fenced areas during daily construction monitoring; CRLF shall be relocated to undisturbed, preserved portions of Tassajara Creek, and CTS shall be relocated to the nearest protected upland habitat containing burrow habitat." 11. Page 68, Supplemental Mitigation Measure SM-BIO-ll is revised as follows: "Prior to any tree removal or ground disturbance, a qualified biologist (approved by the City) shall conduct special status breeding bird surveys throughout the develo rtion of the . ea and wi' feet in acljacent habitats. Buffers s all be a minimum of 250 feet for raptors (although sefloiäve raptors such as golden eagles. which are unlikely to nest on the Dublin Ranch West site, may require a much larger buffer), and between 50 and 100 feet for special status passerines depending on habitat type (50 feet in dense vegetation, 100 feet in open areas). Ftc constf\:ieåsR surveys shall tah:e place thfougheHt t;Re à€vc1opment parlieR ef the prejeet area, incluàiRg GUrvcys for grasslarllii lIiràs and bifdc lilcely te nest along tl-.e Tassajara Creek corridor. Nesting status shall be monitored by a qualified biologist to determine when nests are no longer active. All activities shall be prohibited within the buffer until after young have fledged and,L,Qr moved out of the nest. This measure shall also apply to construction of recreational trails in preserved areas." 12. Page 70, Impact BIO-6 is changed to read as follows: "Supplemental Impact BIO-6: Loss of speeial status plants Congdon's Tarplant" 13. On page 71, Supplemental Impact SM-BIO-15 is amended to read as follows: "The majority of Congdon's taq¡lants are scattered at low densities over approximately four acres south of the existing residence on the site; the remaining individuals to be impacted occur in small areas west of Tassajara Creek. Studies conducted by H.T. Harvey & Associates have revealed five ~ubpopulations within the Tassajara Creek Management Zone ITCMZ) that average approximately 500 individuals on 0.5 acre each. Based on this information, tho:: +fie project shall establish and manage a,p..proximately 0.63 acres of ereate one acre ef new eecupied habitat for Congdon's tarplantiaF e"lCry SRe acrc of e)(Ìsting CSRgdon's tarp!ant Rallitat lost within suitable, on site pres8P;eà habitat (such as the TCMZ. Following CDFG and City a,pproval. the Dublin Ranch West Congdon's Tarplant Mitigation and Dublin Ranch West Final Supplemental EIR City of DUblin Page 5 February 2005 I I I I I I I I I I I I I I I I I I I Monitoring Plan (H.T. Harvey & Associates 2004) shall be implemented to compensate for the loss of Congdon's tar:plant individuals. pfoject applicaRt shall develop ar.à imfleæ.eJF\t a detaileà Miägaäen and MsmteÀng Plan ts fully comf'Ðnsate fsr iæpacw to CongàsR's tai'plant. The plæ shall in(~hiàe the mitigaäsn àesign, mcthods of salvage of c¡esting seeà, maintenance methods (inchlàiRg ·....ecd managcHleRt), monitoring preeeàlifes and performance CÀtÐEa, repofting requi£emeRti>, and a CSRängency measure ts prcser¡e e)dsting eM site occupicd CSflgàsR'S tarplant haèitat at an cqual amount to lost haàitat in case of mitigaäeR faihlre. The project proponent shall provide a secure funding source (such as a performance bond) for the implementation of the mitigation plan and long-tenn maintenance and monitoring of the mitigation area. The created mitigation area must be preserved in perpetuity (such as through a pennanent conservation easement). The Mitigation and Monitoring Plan must be approved by the City prior to the issuance of grading permits for the project. Mitigation shall require a minimum of five years of monitoring and annual monitoring reports shall be provided to the City." 14. Page 91, first line, the word "550" is replaced with "428." 15. Page 121, Utilities and Services, storm drainage. replace the sentence "Zone 7 is responsible for master planning" with the following; "Zone 7 owns and maintains major storm drain channels in the Livermore·Amador Valley. Zone 7 is presently working on a Stream Management Plan to identify future channel improvements beneficial to the residents of the Valley." Correct the sentence that reads: "Drainage on the project area.. . connect with Zone 7 facilities south of 1-580:' This should read: "Drainage on the project area.. . connect with Zone 7 facilities north of 1-580." 16. Page 125: Zone Ts Salt Management Plan does not include demineralizing shallow groundwater and reinjecting it into the groundwater basin. Instead, it includes blending demineralization of a portion of produced groundwater with other water supplies for delivery to customers. Also, delete the word "water" from the term "salt-water." The sentence that reads "the resulting salty brine is to be piped..." with "brine processing facilities" to "concentrate processing facilities." The correct name of the Zone 7 contact person is "David Lunn." 17. Page 136, Supplemental Mitigation Measure P ARK-I is changed to read as follows: "PARK-I: ~~~::'e ~fltative map sr 6æ.ge :1 Devc1epment P,Ian a':hroval, wmchevef occum fiFE:t, As outlined below, the Project developer all either: a) Revise the land use program for the Dublin Ranch West site to provide an additional ::hMl.9 net acres of Neighborhood Park land use designation in lieu of a publici semi-public use; or b) Províàe 1.9 Ret acrcs of NeigkBsmeeà Parks lanà ",se in dose prmámity sf the Pfoject site. As part of the Prqject Pre-Annexation Dublin Ranch West Final Supplemental EIR City of Dublin Page 6 February 2005 I I Agreement. pay fees to the City of Dublin to compensate for loss of 1.9 acres of Neighborhood Park land on the Project site. Fees I shall be equal to the neighborhood park in-lieu fee amount cha¡:ged to developers who do not have parkland on their property as set by the Dublin Community Facility Fee report in effect at the time I of subdivision map recording. Fees shall be due at the time of final subdivision map recordation," I 18. Page 138: Third bullet point in middle of the page should be corrected to read: "Alternative 3: Reorganization and Development of the Dublin Ranch West with a Revised Neighborhood Park Location." I 19. Page 141, first line of 5.4, Alternative 3, the acreage figure "8.7" is replaced with "7.8." I 20. Page 142, add a new Supplemental Mitigation Measure for Alternative 3: Supplemental Mitigation Measure ALTP ARK-I is added to read as follows: I "ALTPARK-l: As outlined below. the Proiect developer shall either: a) Revise the land use program for the Dublin Ranch West site to I provide an additional 1.04 net acres of Neighborhood Park land use desigr¡ation in lieu of a public I semi-public use; or b) As part of the Project Pre-Annexation Agreement. pay fees to the I Cit;y of Dublin to compensate for loss of 1.04 acres of Neighborhood Park land on the Project site. Fees shall be equal to !;he neighborhood park in-lieu fee amount charged to developers I who do not have parkland on their property as set by the Dublin Community Facility Fee report in effect at the time of subdivision m'W recording. Fees shall be due at the time of final subdivision I map recordation." Summary of DSEIR Comment Letters I Comment letters were received by the City of Dublin during the 45-day public comment period on the DSEIR from the following agencies, organizations and other interested parties. I Commenter Date I Federal A2encies None I State A2encies 2.1 State Department of Transportation 1/03/05 I (Caltrans)* 2.2 State of California, Office of Planning 1/05/05 and Research* I Dublin Ranch West Anal Supplemental EIR Page 7 City of Dublin February 2005 I I I Local Aeencies I 3.1 Alameda County Flood Control and 12/30/04 Water Conservation District Zone 7 3.2 East Bav Recional Park District 1/03/05 I 3.3 Dublin San Ramon Services District 1/03/05 (DSRSD) 3.4 Alameda County Public Works 1/04/05* I Agency Intetested PersonsjOtganizations I 4.1 Martin W. Inderbitzen, Attorney at 1/03/05 Law I * Although these comment letters were received after the dose of the public comment period, responses are provided. I I I I I I I I I I I Dublin Ranch West Final Supplemental EIR Page 8 City of Dublin February 2005 I I I I I I I I I I I I I I I I I I I I Annotated Comment Letters and Responses Dublin Ranch West Final Supplemental EIR City of Dublin Page 9 February 2005 I I I I I I I I I I I I I I I I I I I 61/63/2005 14:62 5162865559 CALTRANS PAGE 01 'IITATRnP'r:AI.IR1RNiA. tlU8øœ.!.!Ii TIlAMl.JIi'Ut"U.l'Il'W ANnJ.mmtt'Nti A(';P.Nr:V ..WNt"IIll"I ~f"1.IW...D7IJIIItfnrdID 0____ DEPARTMENT OF TRANSPORTATION III GRAND AVENUE P. O. BOX 23660 OAKLAND, CA 94623-0660 PHONE (510)286-5505 PAX (510) 286--5513 TTY (800) 735-2929 6J January 3. 2005 RECEIVED· JAN 0 3 2005 STATE CLEARING HOUSE ~~~t PI*-' 'l*' p~rl ø~ ''''''0 (Øi~iÆlI" ALA58076 1 SCH#2003022082 Mr. Mike Porto City of Dublin Community Development Department 100 Civic Plaza Dublin, CA 94568 Letter 2.1 Dear Mr. Porto: DUBLIN RANCH WEST - DRAFf ENVIRONMENTAL IMPACT REPORT Thank you for including the California Depanment of Transportation (Department) in the environmental review process for the Dublin Ranch West project. The comments pre&ented below are based on the Draft Environmental Impact Report (DEIR); additional comments may be forthcoming pending final l'eview of the DEIR.. As lead agency. the City of Dublin is responsible for all project mitigation, including improvements to state highways and related drainage systems. Please note that an encroachment permit wil1 not be Issued until our concems are adequately addressed. Funher conunents will be provided during the encroachment permit process. TrI4i/k V,blmll Døta Since cunent traffic volume data should be used whenever it is av/IÍlable, 2002 data for InterState 2.1.1 S80 (1-580) should be replaced with the more current 2003 volume data which Is available from the Depamnent's webslte linküsted below. Pase 93, Section 4.6, Transportation and Circulation, &isting roa4way network. hup:/Iwww.dot.ca.gov/bqluaffops/saferesr/trafdBtaI Hydrøulks L A HydrologylHydraulic Study should be prepared and submlttM to the Department to enable 2.1.2 us to det\::rmine projecH~lated Impacts on the lOO-year flow rates and flow conditions at the I-SSOfTassajara Road Interchange. Project-related drainage impacts to 1-580 should be thoroughly evaluated, and mitigation recommended where appropriate since FEMA floodplain maps show flooding at 1·580 where Tassajara Creek crosses the freeway west of the interchange, and the DEIR states that Tassajara creek is the outfall for project-related storm drainage systems. Tbe project should Include measUl'eS to reduce post-development flow rates to existing values. "C~I"an,s u..,rou.r MObml)l dC'N)U CdlfføfJI" I' I I I I I I I I I I I I-~- I I I I II I I 61/63/2665 14:62 M.. Mike Pano Jam.uuy 3, :wo5 Pag. 2 5162865559 CALTRANS PAGE Ø2 2. Development fees should be used to improve the drainage infrastrUcture impacted by the project. Dn.inagc improvements should include supplementing existing cross culverts under the freeway that have been overta:o.ed by unmitigated development within the watershed. Enc1YHIChment Permit Work that encroaches onto the Srate Right of Way (ROW) requires an enerow:hment pennit that is issued by the Depanment. To apply, a completed encroachment pcnnit application, environmental documentation, and five (5) setS of plans, clearly Indicating State ROW, must be submitted to the address below. Traffic-related mitigation measwes will be incorporated into the construction plans during the encroachment pennit process. See the website link below for more infoXIDatlon. hnp:/lwww.dot.ca.govlhq/traffopsldevelopserv/pennitsl Sean Nozzari, District Office Chief Office of Pennits California DOT, District 4 P.O. Bo,," 23660 OaldlIld, CA 94623-0660 Please feel free to call or email Patricia Maurice of my staff at (510) 622-1644 or natricia maurice@dot.ca.l!ov with any questions regardins thh letter. Sincerely, TlMO . SABLE District Branch Chief JORlCEQA c: Mr. Scot! Morgan, State Clearinghouse "Calwdn: ð'np~t m(iÞllll1 rJc,tnt CÆJifOm"'¡' 2.1.3 2.1.4 I . I I Arnold Schwancnegger Govct"nor I I I I I I I I I I I I I I I I STATE OFCALIFORNIA GoverIlor's Office of PlanIling and Research State Clearinghouse and Planning Unit January 10, 2005 Michael Porto City of Dublin Development SeTVice, Department 100 Civic Plaza Dublin, CA 94568 Letter 2.2 Subjeet: Dublin Ranch West Project SCH#; 2003022082 Dear Michael Porto: ~.,,~ (~) .-..;: . ~~"'~ Jan Bool Aoring Director The enclosod co=nt (s) on your Draft EIR was (wore) received by the State Clearinghouse after the end of the ."'te review period, which closed on December 30, 2004. We sre forwarding the.e comments to you because they provide information or raise issues that should be addressed in your final environmontal docurnmt. 1'ho California Envirorunental Quality Act does not require Load Agenci.. to respond to iate comments. However, we encourage you to incorporat~ these additional comments into your final envllonmental document and to consider them prior to taking fmalaction on the proposed project. Please c011tact the State Clearinghouse at (916) 445·0613 if you have any questions concerning the environmental review process. If you have a question regarding the abov~-named project, please refer to the ten-digit S"'te Clearinghouse number (2003022082) whon contacting this office. Sincerely, ~~. Senior Phmner. State Clearinghouse Enclosures cc: ResourcM Agency ViC1 \?WI) Öl-I}':'OS (Eß ]400 TI!NTH STREET P.O. BOX 3044 SACRAMENTO. CALIFORNIA 95812-3044 TEt.(916)44$-iJ613 FAX(916)32,J-,JOI8 www.opr.ca.goY I I I I I I I I I I I I I I I I I I I ALAMEDA COUNTY FLOOD CONTROL AND WATER CONSERVATION DISTRICT Pl.éA$ANTON, CALIFORNIA 94588-5127 4 PH:)NI;' (925) 484-2600 ~p.x (5125) 462-3914 5991 PARKSIDE DRIVE . December 30, 2004 Mr. Mike Porro, Project Planner Community Development Departmtnt City of Dublin 100 Civic Plaza Dublin, CA 94568 RECEiVEtJ Jt'\N 0 3 R~L'¡) Letter 3.1 pLlBLlN PLANNIN- Re: Dublin Ranch West Project - Draft Supplemental Environmental Imp.ct Report (DSEIR) Dear Mr. Porto; Zone 7 has reviewed tho referenced CEQA document. We have several comments which are made in the context of Zone Ts mission to provide drinking water¡ non.potablc water for agriculture and inigated turf, flood protectiQI1¡ and groundw.ter .nd slTeam man.gemont within the Livermore-Amador Valley. Zone 7 previously commented on the Notice ofPreparntion for a DSEIR for the W.llis Ranch Project, whicb w.s the predecessor to this project. PI..,e see enclosed M.rch 17, 2003 letter for your reference. Our comments are organized to follow the DSEIR, .s follows: 1. Chapter 3.0 Projecr Description - 3.6 Projecl Developmlml Plan, page \3 This paragraph identified existing .nd proposed land use designations fur tho project. The projecr will consist oflow, medium, and medium-high density residenti.l, neighborhood commercial. .nd park and open sp.ce. Mitig.tion for the creation of impervious areas within the Livermore- Amador Valley is addressed through the collection of Special Drainage Are. 7-1 Dr.in.ge Fees. The dr.inage fees are collected for Zone 7 by the local governing agency upon .pprov.l of vesting tentative or final map for new streets/development and/or upon approv.l of any new building/grading/use pennit required of .ny public agency/commercial/residenti.l/ industri.l/agricultural user. Fees are dependent upon whetherpost-project impervious are. conditions are greater than pre-project conditions and/or whether fees have previously been paid. Effective January I, 2005, the fees will be $0.662 per square feet of new impervious surf.ce area. 3.1.1 2. Chapter 4.0 Environmental Analysis - 4.7 Uti/tties and Services, Storm Dratnage Under Environmental Setting, page 121~ replace sentence that reads "Zone 7 is responsible for master pl.nning" with "Zone 7 owns and maintains major .torm drain channels in the Livermore-Amador Valley. Zone 7 is presently working on a Stream M.nagement M.ster Plan to identify future channel improvements beneficial to the residents of the Valley." Correct sontence th.t read¡; "Drain.ge on the project area...connect with Zone 7 facilities south ofl-580" to "Drainage on the project are....connect with Zone 7 facilities north of 1-580." 11 should be noted that Zone 7 does not typically maintain culverts. as they are usu.lIy owned by CalTrans, or are the City's responsibility to maintain. 3.1.2 Under Hydrology and Hydraulic Analysis (Zone 7), page 125. it is noted th.t the City will require hydrology and hydr.ulic analysis from developers for future projects within Dublin Ranch West for review by both the City and Zone 7. Please be advised that Zone 7 should be .Ilowed to review and comment prior to the cononeneement of each future project. 3.1.3 3. Ch.pter 4.0 Environmental Analysis - Supplemental In/ormation in Response 10 Notice of Preparation (NOP); Main Basin Salt Loading (Zone 7). p.ge 125 There are . number of corrections to be made in this par.graph. Please he .dvised that Zone 7's current (near- term) Salt Management Plan docs not include "demineralizing shallow groundw.ter... and reinjecting it into the groundwater basin." Inste.d. we are planning on demineralizing. portion of the produced groundw.ter tram Out existing supply wells and blending it with other water supplies for delivery m out customers. Tho portion of sentence that reads "This impact is more of a regional salt-water management problem, ... "" should be revised to read "This impact is more of a regional salt management problem, _.. ."Also, replace portion of 3.1.4 I I M{. Mike Pono, Project Planner Community Development Department City of Dublin December 30. 2004 Page 2 I I sentence that reads "the resulting salty brine is to be piped..." with "the resulting concentrate is to be piped .. _" Sirnilarly~ replace portion of sentence that reads" brine processing facílitiestt to 'Iconcentrate processing facilities", Please also correct spellíng for Zone Ts contact for information On ma.în basin salt loading~ Dav~ Lunn. I 4. Appendix 8.llnilial Study I Under paragraph 8, Hydrology aud Water Quality, page 39, it should be noted that all proposed Mitigation 3.1.5 Measures for Hydrology specified in the Eastern Dublin EIR, will require input from Zone 7 prior to implementation, as any new drainage pians proposed could have an effecI on -Zone 7's Stream Management Master Plan. The Mitigation Measures should also defme what sort of channellmprovemems will be requued of developers. I In the first sentence of the Environmental Selling paragraph, page 51, please be advised that Zone 7 is a water 3.1.6 wholesaler and does not serve the project area directly_ In addition, Zone 7 does not ovm Or maintain any storm drain facilities within the Projeet Area. In the second paragraph, replace sentence that reads "new storm drainage facilities which would COMect to existing facilities maintained and eontrolled by Alameda County Flood Control and Water Conservation District, Zone 7" with "new storm drain facilities which would connect to existing facility owned and maintained by Zone 7, Alameda County Flood Control and Water Con.<ervalion District n I I I Also, please suhmit for Zone 7 review all future plan and specification and future studies pertaining to the proposed project, a!tn: SuzaMe Alaksa. Associate Engineer, Advance Planning. We appreciate the opponunity to comment on these documents. Please feel free to call Jack Fung at (925) 484-2600, ext. 245, otmysdfatext. 400. if you have any qnestions. I Very truly yours, I ~.o-µ ð---. Jim Horen Principal Engineer Advance Planning Section r"'" I JH:JF:arr I Enclosure I cc: Dave Requa, DSRSD John Mahoney, Zone 7 Dave Lunn, Zone 7 Joe Seto, Zone 7 Man Katen, Zone 7 Jack Fong, Zone 7 Mary Urn, Zone 7 I I P;\¡f(ivpJanVack.'¡J 1-22-04 Dubljr¡ k,anch West DSEIR,doc I I I I I I I I I I I I I I I I I I I I I ALAMEDA COUNTY FLOOD CONTROL AND WATER CONSERVATION DISTRICT 5997 PArlKSIDE DRivE ; PLËASANTON, CALIFORNIA 94588-5~27 ; "',",ONE (925) 484-26DO ~A)o( (925) 462-3914 March 17, 2003 Mr. Eddie Peabody Jr. Development Services Department City of Dublin 100 Civic Plaza Dublin, CA 94568 Re' Notice of Preparation for Supplemental Environmentallmpact Report for Wallis Ranch Reorganization and Development CPA 02-028) and Initia] Study Dear Mr. PeabodY' Zone 7 has revi..wed the referenced Notice ofPr.paration (NOP) and !niti.al Study. We have several comments which are made in the context of Zone 7'8 responsibilities in our service area to provide wholesale treated water, non-potable water for agricuhure and irrigated tUIf, flood protection, and groundwater and stream management. Our comroents are listed below and are organized to follow the order of the environmental checklist in this !nida] Study: I. Project Background and Description -!nfrastructure, page 5 Tassajara Creek, extendffig from the southerly boundary of the project to approximately 2,100 feet south of the A]ameda County/Contra Costa County line, and an approximate 400-foot long reach of the tributary to Tassajara Creek, are authorized Zone 7 facilities. If any alteratiop of Tassajara Creek or thc tributary are proposed, then a hydraulic study ofth. effect of such alteration on the wate{ surface under the 100-year flow conditions and the proposed development should be submitted to Zone 7 for review and comment. 2. Section 8, Hydrology and Water Quality. item c), page 4] Mitigation for the creation of new impervious areaS within the Livermore-Amador Valley is addressed through the collection ofSpecia] Drainage Area (SDA) 7-] drainage fees_ Zope 7's standard mitigation practice is to colkct ¡Ill SDA 7-1 fee on any new buildings, improvements {including, but not limited to paving), or structures to be copstructed that substantially ipcrease the imperviousness of the land surface. 3. Section 8, Hydrology and Water Quality, item e), page 41 A hydrology study is needed to determine the impacts to Zone 7's facilities- Zone 7 requests that it be able to review and comm<:nt prior to commencement of the project. 4. Section 8. Hydrology and Water Quality, items g and i), page 42 A hydraulic study is needed to determine the impacts oUhe project On the 100-year water surface in Tassajara Creek. Zone 7 requests that it be able to review and comment prior to commencement of the project_ I I Mr. Eddie Peabody, Jr. City of DubHn March 17, 2003 Page 2 I I 5. Section 13, Public Services, Water and Sewer, page 46 I This project will also be annexed to DSRSD for water and sewer services. and DSRSD's master utilities plans, including recycled water, will cover this project area. The Initial Study does not assesS the potential salt loading impacts over Our main groundwater basin. Zone 7 considers all applied water (rainwater is an exception), including both potable water and recycJed water, to contribute salt loading to the groundwater basin and there must be mitigation ofthe associated impacts. I I Zone 7's Groundwater Demineralization Project is the recommended project to accomplish Zone 7' s Salt Management Program's goal of non-degradation of our main groundwater basin fi:om the long-term buildup of salts. Zone 7 expects to begin design in 2004, with project completion expected in 2006. We request that the City of Dublin express support for the Groundwater Demineralization Project within the Draft EIR as the appropriate mitigation for any projects proposed. Otherwise, we request the City address the mitigation of any salt loading impacts of the project should Zone 7's proposed Groundwater Demineralization Project not be constructed and placed into operation. I I 6. Section 1 6, Utilities and Service Systems, item d), page 52 I A portion ofthe project area is located in Contra Costa County. Zone 7's service area is in Alameda County. The only portion of Contra Costa County that receives Zone 7 water is a portion of Dougherty Valley, and that is through a special agreement. Please explain if there was an intent to serve the Contra Costa County portion of the project area with Zone 7 water. I I I We appreciate the opportunity to comment on these documents. Please feel free to call me at (925) 484- 2600. ex!. 400, or Jack Fang at ex!. 245, if you have any questions. I Very truly yours, //~ ~ ~en Princlpal Engmeer Advance Planning Section I JH:JF:arr cc: Dave Requa, DSRSD Ed Cununings, Zone 7 John Mahoney, Zone 7 Dave Lunn, Zone 7 Joe Seto, Zone 7 Matt Katen, Zone 7 Jack Fang, Zone 7 I I I FHe; P:\AdvpJan\C'EQA Ref!m"a¡s\WallisR;iT1chR.~organiz;ati()nDe.velopmcl'Jt.doc I I. I I I I I I I I I I I I I I I I I I ( <kJe.iJvuL OJOSo5 U6mAiL 10: 5LI!+m Si PARK DISTRICT EAST BAY REGIONAL January 3, 2005 Via Fax and US Postal Service Mike Porto, Project Planner City of Dublin Community Development Department toO Civic Plaza Dublin, CA 94568 Letter 3.2 RE: Tassajara Creek Regional Trail- Dublin Ranch West Project (P A 02-028) Draft Supplemental Environmental Impact Report SCH # 2003022082 Dear Mr. Porto: Thank you for providing the East Bay Regional Park District ("Districtj with a copy of the Draft Supplemental Environmental Impact Report (SEIR) for the Dublin Ranch West proposed project. As stated in the District's Response to the Notice of Preparation (see March 18, 2003 letter to Mr. Eddie Peabody Jr.) lIB part ofthe implementation of the District's adopted Master Plan 1997, the District seeks to develop the TIIBsajara Creek Regional Trail ftom Dublin Blvd., through the proposed project, continuing northward and eventually connecting to Mt. Diablo State Park. The proposed project would not be consistent with the District's Master Plan 1997. The Master Plan locates the TIIBsajara Creek Regional Trail along the ridge in the vicinity of the eastern edge of Parks RFTA, and then proceeding northward along the ridge toward Mt. Diablo State Park. The proposed project would location the Tassajara Creek Regional Trail in a narrow corridor between two areas proposed fur low and medium density residential development. The Draft SEIR is inadequate because in does not address the significant impacts IIBSOCiated with the lack of consistency with the Master Plan, and the impacts ftom changing the existed open space to residential development adjacent to the regional trail corridor. Please call me at 510/544-2621 if you would like to discuss this further. ~ IìII rei 29f)C ¡=:¡eíalta Oaks Court P.O. Box 5381 Oakland. CA 94605-0381 510 635-0135 FA~ 510569-4,319 ;'Ut) 510633-0460 www,ebparks,rJr'g BOARD OF O:A::C70R!:i Doug Siden Pl8sidel'1; W;:¡rd4 Je.:Jn Sir: Vir:~.Pr~~.i¡J~r"l1 War(ll Beverly Lsr¡e- ~r~;;¡~urE!r W;;rljc, CaiO! S~iI~r¡n !:Ìecr~(;;¡ry WEJfd3 hhn $u[l6'r WEJrd2 Ayn Wieskamþ W.,.rd5 Ted Radke W.srd7 Psi O'Br!sr: S/!;)'.i!(ill MilllSlger I I I I I I I I I I I I I I I I I I I ,. > t<u.ei V.fð:. Of{) SO 'S US rV/Ji4 L /0'. Sî..! r+M $£ DUBLIN SAN RAMON SERVICES DISTRICT 9258280515 7051 Dubliu Soukvard DubIin, California 94568- FAX: 925 829 I J 80 JanuaI)' 3, 2005 Mr. Mike Porto, Project Plauner City of Dublin, Community Development Department 100 Civic Plaza Dublin, CA 94568 Letter 3.3 Subject: P A 02-028, General Pian/Specific Plan Amendment, prezoning and Stage 1 Development Plan for Dublin Ranch West--Comments on Draft Supplemental Environmental Impact Report Dear Mik.: Thank you for the opportunity to comment on the subject document. The Dublin San Ramon Services Dis1rict ("Dis1rict") has the following comments. Potable Water SuvtJlv and Serviçe As you point out in the draft EIR, the entire Dublin RJmch West project will create an additional maximum potable water demand of 320,000 gallons per day. Because of the plauning already done by the Dis1rict, in cooperation with the City of Dub tin. that demand for Dublin RJmch West is already incorporated into the Dis1rict's Urban Water Management Plan and 2004 Water Master Plan Update in progress. In 2004. the District perfonned and completed a "Water Service Analysis and Water Supply Assessment" for the Dublin Ranch West project in accordance with the "Agreement to Senle Water Litigation" between the Dis1rict and the City of Livermore; Citizens for Balanced Growth; Zone 7 Water Agency, Alameda County Flood Control and Water Conservation Dis1rict; Windemere Partners; and Shapelllndus1ries, Inc., dated November 2, 1999. A copy of the document was forwarded to the City of Dublin on December 15.2004. 3.3.l The facilities curTently planned by the District for this area will be of sufficient capacity to meet the increased demand at full build out of this project; and this demand will be mitigated somewhat by the extension of recycled water pipelines through the project area and adherence to Dublin's standard water conservation measures. To obtain water service from the Dis1rict, potable water lines must be extended into the project site. The pipeline must be constructed by the project applicant and dedicated to the Dis1rict for operation and maintenance. The sizes and locations of all water pipelines should be identified prior to project approval for installation. Coordination with the Dis1rict should be conducted to ensure that the proposed activities do not interfere with existing Dis1rict facilities and the instalJation of new water lines are completed in confonnance with the District's Standard Procedures, Spectjicatians and Drawings and 2Q04 Updated Water Master Plan in progress. The supply of the 320,000 gallons per day of potable water for this project is provided for in the long-tenn con1l'acts between the Zone 7 Water Agency and the Dis1rict. No additional mitigation is necessaI)' for obtaining additional water supply for this project. The IJ\Jb¡j~ $:>n R~,.,,,,,, s,·(~,~,,~ )1~¡:1(¡ i~" f\¡!;.li" F.n!;IY File~ Chron. H:\ENGOE >Tì(: ;¡QA\20:S-02o.1005lDublin RMK.h W~S[ ~E11I. Lu ]_!-O~.dDc; I I Mr. Miko Porto City ofDublin January 3, 2005 Page 2 of2 I I Reevcled Water SuvvIv and Service I District Ordinance No. 301 requires recycled water use for all new land uses that are commercial, multi-family 3.3.2 . residential and institutional irrigation within the District's potable water service area. A portion of the development of the Dublin Ranch West falls into these categories. In your report. you show a maximum expected average day demand for recycled water of 104,300 gallons per day for irrigation. The District's 2000 Recycled Water Plan has 132,900 gallons per day for irrigation. The Water Master Plan Update currently in progress will incOlporate the reduced demand. I To obtai" recycled water service from the District, recyc1ed water lines must be extended into the project site. The pipehnes must be constructed by the project apphcant and dedicated to the District for operation and maintenance. The sizes and locations of all pipelines should be identified prior to project approval for installation. The installation, operation and maintenance of recycled water lines shall confonn to the District's Standard Procedures, Spedficatìons and Drawings and Recycled Water Use Guidelines. I I Wastewater Services and Wastewater Effluent DisoosaI I Wastewater flows at Dublin Ranch West's full bwld out has been included in the planned capacity expansions of the District's Wastewater Treatment Plant and LA VWMA' s wastewater effluent disposal facilities. Providing w....tewater collection, treatment and export services is contingent upon the Dublin Ranch West Development satisfYing all requirements contained in the District's Code and implementing the District's master plans, pohcies and ordinances. 3.3..3 I The District has included the project area in its master plan study sewer services. So that the project may receive sewer services from the District, sanitary Sewer lines must be extended into the project site. These facilities must be constructed by the project applicant and dedicated to the District for operation and maintenance. The sizes and locations of all Dismct utilities and facilities should be identified prior. to project approval. Coordination with the District should be conducted to ensure that the proposed activities do not interfere with existing District facilities and the installation of new sewer lines are completed in confonnance with the District's Standard Procedure>, Specifications and Drawings and updated master plans. 3.4.4 I I I As noted above. our agency does not deem any mitigation beyond those specified in the Draft EIR for the areas of our potable water., recycled water, or wastewater collection and disposal services to the community. We feel the joint planning effort done between the City of Dublin and the District h.... successfully identified those areas of concern and planned reasonable solutions for those are..... Thank you for your consideration in this matter. ¡fyou have any questions regarding these comments please call me at (925) 875-2255. I ¿t!;~ RHODORAN.131A~ Associate Engineer. I I I tp co; D. Requa D. 13ehrens S. Delight R. Portugal I I fil~; Çhron. H:'£NGDE!F'1\CEQA\20:;-o2-100;5\DubU" ~h W~51 SEIR Ltr 1-3-QS.du~ I I I I I I I I I I I I I I I I I I I COUNTY OF ALAMEDA PUBLIC WORKS AGENCY DEVELOPMENT SERVICES DEPARTMENT 951 Turner Coun, Room 100 Hayward. CA 94545 -269& (510) 670-6601 FAJ((510) 670-5269 JaIluary 4, 2005 Mike Porto Project Planner City ofDublin Community Development Department 100 Civic Plaza Dublin; CA 94568 Letter 3.4 Dear Mr. Porto: Subject: Dublin Ranch West Project Draft Supplemental Environmental hnpact Report Reference is made to your transmittal of the above noted Draft SEIR for the Dublin Ranch West project, located on 189 acres within unincorporated Alameda COlmty, west side of Tassajara Road, east of Parks RFT A, south of the Alameda/Contra Costa county line and north of the existing Dublin City limit line. We have reviewed the submitted documents and offer the following comments: 1. Exhibit 16 shows a future T as$lljara realignment. Transitions will be needed within the current project limits. 3.4.1 2. Evaluation should be made on constrUCtion impacts to adjacent County roads. 3.4.2 3.4.3 3. Evaluate impacts to existing County roads due to increased traffic. Potential traffic calming requirements may be needed for County roads. 4. Although a conceptual sketch is provided regarding this project, it is critical that roadway improvements be included in the area between the jurisdictional boundary line and the most southerly limits of the project. Experience has demonstrated that this roadway area has been subjected to previous incidents due to limited shoulder area, motorist speed, and reaction time with motorists in the turning-movement process. Since this section of roadway has a curve-linear alignment, it is critical that roadway design standards and improvements be considered beyond the fi'ontage limits of the parcel. 5. With the future alignment ofTassajara Road and Fallon Road, it is important for right of way dedication (to the ultimate alignment) of this roadway be considered. The existing right of way on Tas$lljara Road is 66 feet with a future-width-line of 100 feet. 3.4.4 3.4.5 D\~\D-ÜtJ R~C£lvE!J TO SERVE AND PRESERVE OUR COMMUNITY I I I I I I I I I I I I I I I I I I I Mr. Mike Porto 2 January 4, 2005 6. Prior to finalizing this design concept, it is suggested that a roadway conceptual plan be considered for the surrounding area.. Although not all lands westerly ofTlISsa.jara. Road are a. part of the proposed project, the ultimate development of this area. will undoubtedly impact surrounding parcels and roadway improvements along TIISsajara. Road. 7. On Tassajara. Road, the installation of a traffic signal, deceleration and acceleration lanes, potential for on-street bike lanes, shoulder improvements, street lighting, and additional traffic control signing and striping should be considered. These improvements are further sUl11l11arÌzed in the consultant's report, "Supplemental Impacts for Potential Traffic Safety Impacts." 3.4.6 3.4.7 Thank you for the opportunity to review the Draft Supplemental Environmental Impact Report for this project. If you have any questions, please call Andrew Otsuka at (510) 670-6613. ~I-ý Stanley Fung Deputy Director Development Services Department IAO cc: Hank Ackerman, Flood Program. John Fensrennacher, Real Estate Division James Chu, Road Department Robert Preston, Traffic Engineering Mario Montalvo, Maintenance & Operations Tom Hinderlie, Maintenance & Operations Fred Wolin, Enviromnental Services Robert Hale, Clean Water Division Gary Moore, Permits Section I I I I I I I I I I I I I I I I I I I r/r;ð~ Jer~ ~ MARTIN W. INDERBITZEN Attorney at Law January 3, 2005 Hand Delivered Mike Porto Planning Department City of Dublin 100 Civic Plaza Dublin,Califonria94568 Letter 4.1 Re: Dublin Ranch West Draft Supplemental Environmental Impact Report Dear Mike: Thank you for the opportunity to cOWIIlent upon the Dublin Ranch West SDEIR. Comments pertinent to the Biology Chapter are attached herein as a separate document. Al! other chapter comments are presented below. Exhibit 12 Master Infrastructure Plan. We wish todarity that although the Plan does not illustrate Zone 2 water lines in Tassajara Road, north of the primary project entry, and in Fallon Road, DSRSD plans to have these lines placed in these street segments. Pal!e 14, Second bullet item: replace "9.7" with "3.7". Pal!e 18. Second paragraph under Utility services. second line: replace "westerly" with "easterly". Pal!e 91, First line of page: replace "550" with "428". Pal!e 141. First paragraph of5.4 Altemative 3. . .: replace "8.7" with "7.8". PaI!es 1-2 and 135-136: The Dublin City Council held a public workshop on October 5, 2004 to discuss various issues regarding the Dublin Ranch West project, including reviewing and evaluating four . plans that looked at different locations and sizes of neighborhood parks on or near the project site. The Council selected Option Four, which provided 7.66 acres of neighborhood park on site, arid 1.04 acres of neighborhood park that would be located on an adjacent development parcel because "it would serve the different needs of the community". Additionally, 1.2 acres of land was set-aside on the project site that could be utilized as either public/semi-public or neighborhood park uses. The Council accepted Portol) DR - W.lI~. 7077 Koll Center Par1çway, SuitEi120, F'le,asan10n, CaUfomla 94566 Phonil!l 925 485-1060 Fax 925 4as-106S 4.1.1 4.1.2 4.1.3 4.1.4 4.1.5 4.1.6 I I I I I I I I I I I I I I I I I I I Mike Porto January 3, 2005 Page Two the fact that neighborhood park acreage could be moved off site if need be. Based on the foregoing, we request that mitigation measure PARK-l be revised as follows: PARK-I. Prior to tentative map or Stage 2 Development Plan approval, whichever occurs first, the project developer shall: (a) Revise the land use program for the Dublin Ranch West site to provide an additional 1.04 net acres of Neighborhood Parks land use designation in lieu of a public/semi-public use; or (b) Pay in-lieu fees for required Neighborhood Park acres. Pal!e 135, first paragraph after Sunnlemental Imnact PARK-I: Revise "7.66" acres to u6.8!'. 4.1.7 Biological Resources Section 4.3 Our remaining comments focus on the Biological Resources Section, Section 4.3 of the Supplemental Draft EIR. Attached hereto and incorporated herein by reference are two memorandums prepared by H.T. Harvey & Associates (the first dated December 1, 2004; the second dated December 30, 2004) each referencing specific sections of the Supplemental Draft EIR with appropriate comments. 4.1.8 In addition, it is our belief that the Environmental Setting Section of Section 4.3, at Page 47 of the SDEIR does not adequately consider the beneficial impacts of the Tassajara Creek Management Zone for its unique beneficial affects on the wildlife that are potentially'"impacted by the project. If the SDEIR were to properly consider the foregoing as part of the environmental baseline (California Environmental Quality Act Guidelines Section 15125) the SDEIR would conclude that the potential affects on the California Red-Legged Frog from this project are reduced to a level of insignificance. The TassajaraCreek Management Zone (TCMZ) must be considered in conjW1ction with the Biological Opinion of the United States Fish and Wildlife Service dated July I, 2002 together with the Project Area Mitigation and Monitoring Plan prepared by H.T. Harvey & Associates as well as the Tassajara Creek Conservation Area Management Plan and the Tassajara Creek Private Open Space Management Plan. If one were to review the Biological Opinion dated July I, 2002,. it would be accurate to conclude that the development of Dublin Ranch West was not specifically identified as a project impact for the Opinion. Nevertheless, the Service did take into consideration the potential development of Dublin Ranch West; two potential bridge crossings across Tassajara Creek and the City of Dublin's park and recreation plan when issuing the Biological Opinion and approving the Tassajara Creek Management Zone and its associated Portö1.3 DR·WalHs I I I I I I I I I I I I I I I I I I I Mike Porto January 3, 2005 Page Three mitigation and monitoring plan, the TaBsajara Creek Conservation Area Management Plan and the Tassajara Creek Private Open Space Management Plan. The descriptions used by the Service and the meaBures required in the TCMZ indicate that impacts to the upland area of DublÚJ. Ranch West as dispersal habitat for the California Red-Legged Frog have already been considered. AB a result, the impacts of Dublin Ranch West on the California Red-Legged Frog dispersal habitat are insignificant. The Biological Opinion issued by the U.S. Fish and Wildlife Service states under the Section entitled Affecl$ of the Proposed Action Subsection Direct and Indirect Affects· (California Red-Legged FroglRed-Legged Frog Critical Habitat) at Pages 22 to 23. "The City of Dublin is planning to construct trails along both sides of TaBsajara Creek within the TaBsajara Creek Open Space. These future trails may result ÚJ. the loss of additional acres of California Red-Legged Frog habitat and on-going affects in the form of harm, harassment, injury, and mortality to California Red-Legged Frogs fi'om habiiat loss and modification, trail construction related disturbance, trapping and relocation, loss of movement corridors, increased predation by pets, crushing by horses, bicycles and pedestrians, and capture for pets." Under the Section entitled Cumulative Affects (still within the Section entitled Affects of the Proposed Action) the Service states at Pages 29 and 30: "A future housing development is planned imlnediately to the west of the Tassajara Creek open space. The Applicants plan to construct two road crossings over TaBsajara Creek at some undetennined future time through the 53 acre Tassajara Creek open space to provide access to the site of the future housing development. TIris future development would likely result in the loss of additional acres of California Red-Legged Frog and California Tiger Salamander habitat." The Service states in its Opinion under the Section Incidental Take Statement subsection Amount or Extent of Take that: ". .. the Service anticipates that an unquantifiable number of California . Red-Legged Frogs will be taken in conjunction with the following: . . . (2) Temporary loss of 53 acres of California Red-Legged Frog habitat from the Habitat enhancemeut [as a result of future crossings] and perpetual recreation activities by the City of Dublin Parks Department [as a result of construction and operation of City trails]". [Emphasis added] PortOU DR ~ Wallis I I I I I I I I I I I I I I I I I I I Mike Porto January 3, 2005 Page Four These references to the temporary loss and the perpetual recreation activities by the City of Dub 1m are clear references to the authorized mcidental take as a result of the activities identified under Direct and Indirect Affects at Pages 22 and 23 and cumulative affects at Pages 29 and 30. Because the recreational trails are anticipated to be constructed withio the Tassajara Creek open space which is immediately adjacent to the Tassajara Creek Management Zone (and between the Tassajara Creek Management Zone and the proposed development of Dublin Ranch West) the additional acres of Red~Legged Frog habitat, the harassment, mjury and mortality to California Red-Legged Frogs ITom habitat loss and modification, the loss of movement corridors, the mcreased predation by pets, crushing by horses, bicycles and pedestrians, capture for pets, trail construction related disturbance, trapping and relocation resulting from the Dublin Ranch West project proposal is insignificant inasmúch as it has already been taken into consideration by the Service in the Incidental Take Statement of its Biological Opinion dated July 1, 2002. The Tassajara Creek Private Open Space Management Plan states as its goal as follows: , "The primary goal of the P~S [Private Open Space] is to manage the annual grassland habitat, oak savannah/oak woodland habitat, and swale in a manner that is compatible with management of the adjoining TCMZ (H.T. Harvey & Associates 2003b) and the overall TCCA [Tassajara Creek Conservation Area]. In order to achieve this goal, the p~s will be managed as a transition area between the TCMZ and the adjacent future development." With the issuance ofits Biological Opinion on July 1, 2002 and approval of the Tassajara Creek COllSetVation Area along with its related management documents (for the Tassajara Creek Management Zone and the Tassajara Creek Private Open Space) there is little doubt that the Service intended to provide for the development and enhiIncement of habitat for the California Red-Legged Frog IDlhin the Tassajara Creek Conservation Area and to protect the California Red-Legged Frog ITom the approved and anticipated development adjacent to the Tassajara Creek Conservation Area by among other thiogs providing m the management documents for a "transition area between the Tassajara Creek Management Zone and adjacent future development". Thus, any impact to the California Red-Legged Frog as a result of upland dispersal would be msignificant provided that the Tassajara Creek Open Space Management Plan is complied with. PortoiJ DR~WaJli:¡ I I I II I I I I I I I I I I I I I I I ~ Mike Porto January 3. 2005 Page Five For ease of reference, I have enclosed: 1. A complete copy of the Biological Opinion issued by the United States Fish and Wildlife Service highlighted (a) to show the U.S. Fish and Wildlife Service acknowledgment of adjacent development and the impacts thereof identified under both direct and indirect impacts (page 22) as well as cumulative affects (page 29); (b) incidental take as result of "perpetual recreation activities by the City of Dublin Parks Depar1ment". (page 31). 2. The Tassajara Creek Conservation Area Management Plan. 3. Tassajara Creek Private Open Space Management Plan. 4. Portions of the Project Area Mitigation and Monitoring Plan. Once again, thank you for the chance to couunent upon this document. Please feel free to . call me at 925-485-1060 if you wish to discuss these comments in greater detail. Very truly yours, /' ,<;:?;~ MARTIN W. rNDERBITZEN MWI/lmh Enclosures cc: Jim Tong Connie Goldade Pertot,) DR-Wallis I I I I I I I I I I I I I I I I I I I (J; H T. HARVEY & ASSOCIATES ~ ECOLØGlCAL CONSLLTANTS MEMORANDUM TO: FROM: DATE: SUBJECT: Martin Inderbinen/Connie Goldade Steve Rottenborn 1 December 2004 Comments on Dublin Ranch West Draft SEIR Our staff has reviewed the Draft Supplemental EJR for the Dublin Rauch West Project. Some of our previous concerns OJJ previous drafts have been addressed, but we still have concerns regarding several items. Specific coroments are as follows: Impact BIO-l (California Tiger Salamander [CTS]): · SM-BlO-1 arid: SM-BIO-2, page 1-4 (also pages 56 arid 64): The existing passive exclusioJJ barrier was installed, with CDFG approval, to act as a temporary barrier to exclude CTS from entering the future developmeut arid construction areas while allowing CTS to leave the site. TIris pUIJJose is the same as the "temporary herpetological fence" described in BIO-I a) not a permanent fence or barrier as in BlO-2. BlO-1 a) should be modified to allow a temporary herpetological fence or barrier and delete reference to use of the curreut one-way barrier m a pennanent capacity. ill addition, the passive exc1usiou uature of this barrier allows it to substitute for trapping aloug the perimeter.as would be required under BlO-1 b). BlO-1 b) should be modified to describe a salvage plan rather than exclusively a trapping plan. BIO-2 should also be modified to delete description of the existiug passive exclusion barrier for pennanent use. 4.1.9 . SM-BIO-3, page 1-5 (also pages 63 and 64 and Table 6): The DSEIR states in several places that CIS may breed in Tassajara Creek, and that further surveys should be couducted in the creek. In our opinion, further surveys for CTS in Tassajara Creek should uot be necessary. Reports summarizing surveys for CTS by H.T. Harvey & Associates (HTH) along Tassajara Creek ou the Dublin Ranch West site were provided to Wetlands Research Associates (\VRA). HTH conducted surveys for CTS in suitable habitat in: the Tassajara Creek drainage on the Dublin Ranch west site iiI 1993,. 1995, and 2000. Tassajara Creek is a very deep, strong stream with high flow volume and velocity during the winter months when CTS are active, and it is our opiilion (supported by multiple surveys) that this creek does not provide breecliug habitat for CTS. As a result of the unsuitability of habitat along most of the creek drainage, CTS larval surveys were .focused on the only habitat within the Tassajara Creek drainage that approaches potential breeding habitat (an isolated oxbow). No evidence of CTS breeding was found in this area or elsewhere in T assaj ara Creek, and we do not think that further $!lIVeys for breeding CTS in T assaj ara Creek are necessary. 4.1.10 ~ San Jo.e Office 3150 Almaden Expressway, Suite 145 San Jose, CA 951180408-448-9450 o Fax: 408-448-9454 I I I I I I I I I I I I I I I I I I I ~ habitat on the POrthem border of the project $ite along a gently slopiDg drainage. While it is possible that a few individual access or even disperse acro$$ portions of the uphwd habitat on the Dublirt West site, it is not "disper$al habitat" In our opinion, the loss of potential upland dispersal habitat for CRLF is not a significant impact under CEQA. The. Biological Opinion (BO) for Dublirt Ranch, i$$ued by the USFWS on July 1, 2002, identifies the Tassajara Cree.k Open Space as one of the mitigation sites for impacts to CRLF from the "Dublin Ranch project and describes the activities that are expected to OCClJ1' within and adjacent to the Open Space area. The BO acknowledge$ potential future impact$ to CRLF habitat from a future housing development pla¡¡ned immediately to the west of the Tassajara Creek Open Space and two road crossings over Tas$ajara Creek through the Open Space area. However, it seems clear that the USFWS thought that implementation of the Tassajara Creek Open Space management plan would not only serve to mitigate (in- part) Dublin Ranch project impacts, but also to provide adequate protection for CRLF using this reach of Tassajara Creek. In our opinion, becau$e the exì$ting Tassajara Creek Open Space management plan provides" protection for the primary dispersal avenues for CRLF on the site, no mitigation for the loss of upland disperSal habitat for the CRLF should be necessary. 4.1.14' However, if the City insists that impacts to CRLF dispersal habitat are significant and require mitigation,.,it is our opinion that on-site improvements to promote dispersal of " CRLF to points west of the $ite would benefit CRLF more than the off-site mitigation proposed by SM BIO-8. The applicant could enhance the drainage along the northern boundary of Dublin Ranch West Project Site to provide better connectivity between the aquatic habitats to the west and T assajara Creek. This drainage within the project site would be maintained as open $pace and managed to support dispersal of CRLF." This drainage would be enhanced by constructing micro-topographical depressions or texnporary pondiDg areas, and/or improving habitat for foraging and refuge, planting native vegetation (i,e., willows), adding downed woody debris and natural rocks to be used as refugia by CRLF. ' 4.1.15 0, SM-BIO-9, pages 1-11 and 1-12 (also page 67): In the sentence, "If CRLF are found within the construction areas (or other sensitive wildlife species), they shall be immediately moved to undisturbed; preserved portions of Tassajara Creek if authorized ill a biological opinion issued by the USFWS for the project", the "other sensitive wildlife species" phrase requires clarification. Depending on whether or not such species are listed, they mayor may not be addressed in a BO_ The "other sensitive wildlife species", which are also referred to on page 1"12, that would require relocation should be identified specifically. 4.1.16 ° 8M-BIO-9, page 1-12 (also page 67): We recommend that the statement "A biologist with appropriate peImits to relocate any CRLF.,." should be revised to read "A qualified biologist with appropriate authorization to relocate CRLF in conjunction with a biological opiníon."." The USFWS does not i$Sue general permits to allow biologists to relocate CRLF; rather, this authorization would be granted on a project-specific basis ill conjunction with a BO. 4.1.17 I I' I I I I I I I I I I I I I I I I I I ~. , Impact BIO-3 (Breeding Birds): · SM-BIO-ll, page 1-14 (also page 68): In our opinion, impacts to nests of common birds are not significant impacts under CEQA; these are regulatory compliance issues (e.g" Migratory Bird Treaty Act, CDFG code), not CEQA issues, While pre-constmction surveys for compliance with such regulations are advisable, they should be dealt with separately from CEQA compliance. 4.1.18 · SM-BIO-ll, page 1-14 (also page 68): If the City insists on retaining SM BIO-ll, we recommend that the statement that a breeding bird slllVey shall be conducted "throughout the Dublin Ranch West area" be revised to read "throughout the development portion of the Project area" as indicated later in BrO-II; except in the case of Golden Eagles (which are not known to nest on the Dublin Ranch West site), no nest surveys should be required in portions of the Project area >250 feet fi:om proposed development. 4.1.19 · SM-BIG-II, page 1-14 (also page 68): We recommend that in the sentence, "All activities shall be prohibited within the buffer until after young have fledged and moved out of the nest", the word "and" be replaced with "and/or". The Killdeer (Charadrius vociftrus), one species for which habitat may actually be temporarily enhanced by construction-related disturbance due to its preference for sparsely vegetated habitats and its moderate tolerance of human activity, could possibly nest on the site during construction; because this species' precodal young leave the nest soon after hatcJúng (but long before fledgihg), there is no need for the buffer around a Killdeer nest to remain in place aftei the young have hatched and left the nest area. 4.1.20 ' Impact BIO-6 (Special-Status Plants): . Topic/Supplemental Impact, page 1-19 (also page 70): The "TopiC/Supplemental Impact" should read "Biological Resources. Loss of Congdon's tarplant" since this is the ouly plant species considered to be of special status by the City knowuto be present on this site. 4,1.21 . SM-BID-1S, page 1-19 (also page 70): It is our opinion that the loss of approximately 630 individual Congdon's tatplants does not constitute a significant impact under CEQA given the fairly widespread occurrence and abundance of the species_ The tarplant is known to occur in sizeable numbers in the Dublin-Livermore area (e.g., 240,000 individu81s estimated on Camp Parks immediately adjacent to Dublin Ranch West), and the loss of approximately 630 individuals at Dublin Ranch West «0.1 % of a regional population of over 700,000 plants) would not be significant to the overall population, We recommend that this impact, and Mitigation Measure SM-BIO-15, be deleted. _ 4.1.22 lfthe City insists that mitigation be provided for impacts to Congdon's tarplant, we believe that mitigation performed on the basis of the number of individuals impacted would be more appropriate than on the acreage of occupied habitat impacted given the fact that the wajority of individual plants to be impacted (about 500) are scattered at low densities over approximately 4 acres south of the existing residence on the site; the remaining individuals 4.1.23 I I' I I I I I I I I I I I I I I I I I to be impacteèl occur in small areas west of T assajara Creek. ProtocoH~eJ surveys conducted by HTH in September 2002, with follow-up surveys in 2003, revealed five subpopulations within the Tassajara Creek Management Zone (TCMZ) that average approximately 500 individuals on 0.5 acres each_ Thus, the "largest" impact area, in tel1J1S of acreage, may be a low-quality site due to the low deDsity of plants found in this 4-acre area, and it is our OpiniOD that mitigatioD withiD the TCMZ can achieve dexcities similar to those curreDtly occurrÌ!1g in the TCMZ; only approximately 0.63 acres of mitigatioD l3rld e¡¡l¡3rlcement, seeding, and managemeDt wollid be Deeded to provide habitat for an additioDal 630 individual plants. In 2003, prior to deteIIIlining that impacts to CODgdoD's tarplants OD Dublin Ranch West 4 12 . . 4 should be cODsidered less than sigoificant due to the size of the regional populatiOD, Hili prepared a draft Mitigation and Monitoring Plan describing the establisbmeDt and management of Congdon's tarplants on approximately 0.8 aCres surrounding 3rl existing tarplant subpopulation within the TCMZ; an updated draft version of this plan is attached to this memo. If the City insists that mitigation be provided for impacts to Congdou's tarplaut, we recommend that SM-BIG-IS be revised to read, "The Dubliu Ranch West Congdon's Tarpl3rlt Mitigation and Monitoring Plan (H.T. Harvey & Associates 2004) shall be implemented to compensate for the removal ofCougdon's tarplant individnals_" We have provided a copy of the CougdoD's tarplant Mitigation and Monitoring Plan to Jerry Haag, arid to Michael Josselyn at VIRA_ We are sending two copies for your use in procesSÍI1g these comments. This plan may be accessed via Our flp site_ Clicking on thè link below will take you to the HTH ftp site; open the folder narned Dublin West aud down load the tarplant pdffile. :ftp://harveyftp;harvev3150(iì)209.237.26.68 Impact BIO-7 (Loss of riparian vegetation): . H. T_ Harvey & Associates has mapped the riparian vegetation along Tassajara Creek 4.1.25 (provided to VIRA) and so has determined impacts of the bridges across Tassajara Creek more precisely at 0-31 acres. This was accomplished by overlaying tbe bridge plans over the riparian habitat map. . SM-BIO-16, page 1-21 (also page 71); H. T. Harvey & Associates has developed a riparian 4.1.26 habitat mitigation and monitoriug plan for the project site. We recommend that SM-BIO- 16 be revised to read, "The Dublin Ranch West Riparian Mitigation and Monitoring Plan (RT. Harvey & Associates 2004) shall be implemeuted to compensate for the removal of riparian vegetation subject to approval of CDFG and tbe City". We have provided a copy of the Riparian 1v1itigation and Monitoring PI¡¡¡;¡ to Marty for approvaL We are sending 4 copies for your use in processing these CODUIlents if it meets with his approval. This plan may be accessed via our ftp site. ClickiDg on tbe link below ~- I I I I I I I I I I I I I I I I I I I will take you to the HTH ftp site; oþen the folder named Dublin West and doWÎ1load the Riparian. pdt file. ftp://harvevítP:harvey3l50(åJ,209.23726.68 Envlronwental Setting .. Page 47: The sentence "The portions of the Project area has beeu used for cattle grazing..." should be revised for clarity/grammar. 4.1.27 · Page 48: The sentence "The majority of the Project area is donrinated by non-native grassland that has been historically, and has been used for livestock grazing" should be revised for clarity/grammar. 4.1.28 · Pages 49-50: As discussed previously, it is our opinion that the reach of Tassajara Creek located on the project site does not provide suitable breeding habitat for crs, as this is a very deep, strong stream with high flow volume and velocity during the winter months when CTS are active. Surveys by HTH in 1993, 1995, an.d 2000 did not detect CIS in the oruy habitat within the Tassajara Creek drainage on-site that approaches potential breeding habitat (an isolated oxbow). 4.1.29 · Page 51: To place the impact to 630 individual t<iIplan.ts expected to result from this . project into the appropriate context, the brief swnmary of the status of Congdon's tarplant should include more infOmJation regarding the abundan.ce of the species in the Dublin- LivemJOre area (e.g., 240,000 individuals estimated on Camp Parks immediately adjacent to Dublin RaDch West). 4.1.30 · Page 53: The document states, "HTH relocated a number of CRLF from elsewhere on the Dublin Ranch West portion of the Project site into Tassajara Creek.. ."This sentence should be revised to read "HTH relocated a number of CRLF from Dublin Ranch into Tassajara Creek__.." - no relocation of CRLF from the Dublin Ranch West project area itself has been undertaken by HTH. 4.1.31 · Page 56: The document states that CTS critical habitat has been designated. Critical habitat for this species has been proposed, but the designation has not yet been approved. 4.1.32 · Page 56: The document states that no larval surveys for CTS have been conducted in Tassajara Creek within the Dublin Ranch West area, and that larval surveys conducted in this drainage by BIB were "dOWJ1stream of this site". As summarized in reports provided to WRA, HTH conducted surveys for CTS and suitable habitat in the Tassajara Creek drainage 01) the Dublin Ranch west site in 1993, 1995, and 2000. Tassajara Creek is a very deep, strong stream with high flow volume and velocity during 'the winter months when CTS are active, and it is our opinion (supported by multiple surveys) that this creek does not provide breeding habitat for CTS. As a result, CTS larval surveys were focused on the only habitat within the Tassajara Creek drainage that approaches potential breeding habitat 4.1.33 ~. I I I I I I I I I I I I I I I I I I I approximately 770 cubic feet per second, at a minimum depth of 5 feet (2003 Draft Tassajara Creek Drainange Analysis for Dublin Ranch West (Wallis Property), City of Dublin, County of Alameda). Such high flow volume and velocity in Tassaj;ua. Creek is not conducive to the breeding biology of CTS, which require lentic habitats (i.e., non- flowing pools), or at most gentle flow, during the winter and early spring breeding season. Even lower flow volume and velocity in Tassajara Creek than the 2-year event calculated by MacKay & Somps would still not allow for successful deposition of spennatophores by the males or of fertilized eggs by the females; all would be washed downstream due to the flows. If successful fertilization and hatching of the eggs were even to occur (e.g., during a protracted period of little rainfall), the larvae would be susceptible to the high flows and again would be washed downstream. CTS do not breed in highly lotic (stream type) enviromnents such as Tassajara Creek for this reason. · Because Jeff Dreier from WRA had reported the presence ofCTS breeding in a stream in 4.1.38 the Dublin area, we searched the California Natural Diversity Data Base (CNDDB) to further analyze the possibility of CTS breeding in streams such as Tassaj;ua. Creek. A total of 809 occurrence records were searched, of which 258 records between 1961 and 2004 were from Alameda and Contra Costa Counties. Of these 258 records, 140 records documented breeding by indicating the presence of larvae and/or eggs. Of these 140 records, 109 were from artificially constructed ponds (stockponds, bermed springs or dminages to create ponds), 15 were from natural ponds, 11 were from vernal pools, three were from seasoilal wetlands, and two did not indicate breeding habitat. No record indicated that breeding occurred within a stream or natural drainage, · In the USFWS "Designation of Critical Habitat for the California Tiger Salamander, 4.1.39 Central Population; Proposed Rule" (Federal Register 69:48570-48649), the primary constituent element for breeding "based on our current knowledge of the life history, biology, and ecology of the species..." that must be present to be considered critical habitat is "Standing bodies of ftesh water, including natural and man~made (e.g., stock) ponds, vema! pools, and other ephemeral or permanent water bodies that typically become inundated during winter rains and hold water for a sufficient length of time necessary for the species to complete the aquatic portion of its life cycle." Streams are not included as a primary constituent element by the USFWS. The USFWS use best available science in designation of Critical Habitat in accordance with the federal Endangered Species Act. · Exotic species known to have a significantly negative affect onCTS by preying on the 4.1.40 eggs and larval salamanders, such as mosquito fish (GambuSia affinis), bluegill (Lepomis macrochirus), and crayfish (Procambarus clarkii), are in high numbers within the reach ofTassajara Creek adjacent to the Dublin Ranch West site. · The mainstream literature on CTS describes breeding habitat as vernal pools, seasonal 4.1.41 and perennial ponds, and possibly (but not documented) quiet pools of streams, but no studies to date have indicated that strearos with such high winter flows as Tassaj;ua. Creek provide suitable breeding habitat for CTS. A list of the literature we have reviewed in this regard is presented below; o Anderson, P. R. 1968. The reproductive and developmental history of the California tiger salamander. MA Thesis, Fre",o State College, Fresno, Califomla. I I I I I I I I I I I I I I I I I I I o Feaver, P.E. 1971. Breeding pool selection and larval mortality of three California amphibians: Ambystoma tigrillum caJiforniense Gray, Hyla regilJa Baird and Girard, and Scaphiopus hammOlldii Girard. MA Thesis, Fresno State College, Fresno, Ca]ifornia.. o Fisher, R. N. and H. B. Shaffer. 1996. The decline of amphibians in California's Great Central VaHey. Conservation Biology 10:1387-1397. o Jennings, M. R., and M. P. Hayes. 1994. Amphibian and reptile species of special concern in California, California tiger salamander, pp. ] 2-16. Final report to California Dept. ofFish and Game Inland Fisheries Djvision, Rancho Cordova, California. o Loredo, D. Van Vwen, M. 1. Morrison. 1996. Reproductive ecology of a population of the California t;iger salamander. Copeia 1996:895-901. o Petranka, 1. W. 1998. Salamanders of the United States and Canada. Srnithsonian Institution Press, Washington and London. 1-587 p. o Shaffer, H. B., R. N. Fisher, and S: E. Stanley. 1993. Status Report: The California tiger salamander (Ambystoma californiense), final report to the California Department of Fish and Game. California Department of Fish and Game. Sacramento, California. o Stebbins, R. C. 2003. A Field Guide to Western Reptiles and Amphibians. Third Edition. Houghton Mifflin Company, Boston, Massachusetts. o Storer, T. I. 1925. A synopsis of the amphibia of California. University of California Publications in Zoology 27:1-342. . o Trenbam, P. C., H. B. Shaffer, W. D. Koenig, and M. R. Stromberg 2000. Life history and demographic variation in the California tiger salamander (Amhystoma tigrinum). Copeia. 2000:365-377. o Twitty, V. C. 1941. Data on the life history of Ambystoma tigrinum caJiforniense Gray. Copeia 1941:1-4. o Zeiner, D. C., W. F. Laudenslayer, Jr., and K. E. Mayer (editors). ]988. California's Wildlife. Volume 1. Amphibians and Repti]es. California Statewide Wildlife Habitat Relationships System, California Department offish and Game, Sacramento, California. . In summary, it is our best professional opinion, based on a thorough review of the 4.1.42 literature and of CNDDB records regarding the biology of the CTS, the high flows in Tassajara Creek during the winter months, and our experience with and knowledge of the biology of the CTS that Tassajara Creek does not provide suitable breeding habitat for this species. ~- I I I I I I I I I I I I I I I I I I I California Red-legged Frog SM-BIO~8, page 1-10 (also pages 53-54 and 66-67): The DSEIR emphasizes that CRLF can leave the drainage and therefore will disperse across the project site. While we agree that CRLF could leave the Tassajara Creek drainage in a few areas (e.g., at the fann road crossing and more gently sloped areas) where the topography might allow such egress, we believe that most movement by CRLF in the area will be via the dro.inage itself, and that use of the upland areas on the Dublin West site by CRLF is likely vay limited for the reasons below: · Except for the few areas where CRLF may exit the Tassajara Creek riparian zone onto 4.1.43 the Dublin West site, most of the western bank is a vertical wall of over 20 feet, making it extremely difficult (ifnot impossible) for CRLF to access the Dublin West site except at these less sloped areas. Therefore, CRLF could not readily exit ftom known areas of ftog residence in the Tassajara Creek zone onto the Dublin West site. · A recent study of terrestrial habitat use by CRLF in coastal fo:rest and grassland has 4.1.44 suggested that an essential component of the habitat is the presence of concealing cover, such as shrubs, herbs, woody debris, rootballs, small recesses in vertical banks, and forest floor litter (Bulger, J D" N. J. Scott, Jr., R. 8. Seymour. 2003. Terrestrial activity and conservation of adult California red-legged ftogs Rana aurora draytonii in coastal forests and grasslands. Biological Conservation 110:85-95). This concealing cover is necessary to protect the CRLF ftom desiccation and p:redation during the ftequent periods of inactivity while dispersing overland. While ground squirrel bUlTows may provide such concealing cover in the East Bay region, the Dublin West site lacks this essential component in the flat areas near Tassajara Creek that would be necessary for the kind of upland habitat use/dispersal described in the DSEIR. Dispersing frogs (adults and juveniles) ftom Tassajara Creek would therefore be subject to desiccation and predation due to the lack of concealing cover. · Additionally, the Bulger et al. (2003) study was conducted in a more mesic coastal area 4.1.45 of Santa Cruz County, where the risk of desiccation by CRLF dispersing into upland areas would not be nearly as great as in the dry East Bay. We have hundreds of hours of personal experience with CRLE both in mesic coastal sites and drier inland areas (such as Dublin), and we have observed a markedly higher tendency toward upland dispersal in the mesic coastal areas than on the drier East Bay sites such as Dublin West. In fact, it is reported in the USFWS "Proposed Designation of Critical Habitat for the California Red- legged Frog (Rana aurora draytonii)" (Federal Register 69;19620-19642) that "the majority of California red-legged ftogs observed in eastei'n Contra Costa County spoot the entire wet seasoD within streamside habitat (T. Tatarian, in litt, 2000)", further indicatiDg that CRLF in dry areas such as Dublin are likely to make little use of upland areas similar to the Dublin West site. · If the "upland dispersal habitat" depicted in the Draft Supplemental EIR for the Dublin 4.1.46 Ranch West Pn;>ject were being used by CRLF dispersing betweeD Tassajara Creek and known aquatic habitat west of the site, as the DSEIR states, theD individuals should have been detected in the trap array installed for CTS along the entire western boundary of the Dublin West site during the 2003/2004 winter season" This argument is strengthened by the fact that 586 postmetamorphic fTogs (adults, subadults and juveniles) and 1,973 tadpoles were placed in Tassajara Creek during the ~er of 2003 prior to opening the I I I I I I I I I I I I I I I I I I I traps for the winter rains. Overland dispersal by CRLP occurs most actively during the early rains of winter (Bulger et al. 2003), and therefore, if the translocated CRLP were dispersing over the Dublin Ranch West site, they should have been intercepted by the trap array when it was operational (beginning with the first rains in October 2003). The only amphibians detected by the trap array were CTS, yellow-eyed salamanders (Ensatina eschscholtzii), and Pacific treeftogs (Hyla regilla), even though one site in Tassajara Creek where 342 postmetamorphic frogs and 1,968 tadpoles were translocated is only 350 feet from the trap array. · The drainage on the northern edge of the site currently provides a dispersal corridor for 4.1.47 CRLF that might disperse between Tassajara Creek and areas to the west of Dublin Ranch West (e.g., Camp Parks). In fact, CRLF are likely to use this drainage for dispersal far more than they would use the upland portions of the Dublin Ranch West site due to a gentler slope out of the Tassajara Creek drainage, the presence of concealing cover within and near the drainage north of the site, and moisture within this drainage. . In summary, we expect CRLF in Tassajara Creek to leave the drainage and disperse onto 4.1.48 or across the upland area west of the creek only on rare occasions, and the upland portions of the site do not represent important habitat for this species. Even if egress from the Tassajara Creek drainage were not constrained by the topography of the creek, adult CRLP would be expected to leave the drainage only during brief foraging bouts during the wet seasou and stay within the proposed buffer zone along the creek. We do not believe the Dublin West site to represent a migratory corridor between Tassajara Creek and known CRLF aquatic sites further west on the Camp Parks property. Juveniles disperse more widely over uplánd areas than adults, but on this particular site, juveniles are expected to disperse primarily along Tassajara Creek due to the topography, availability of cover, and level of moisture. It is our best professional opinion, based on the site's topography, the dry nature of the upland areas on the site, the paucity of concealing cover in the upland areas of the site, the high quality of CRLF habitat along Tassajara Creek itself, .the presence of a suitable dispersal corridor immediately north of the site, and the lack of any captures of CRLF dispersing across the uplands by the CTS trapping array present during the winter of 2003/2004, that this project will not result in a significant impact to dispersal by CRLF. ~- I I I I I I I I I I I I I I I I I I I Comment 2.1; State of California, Department of Transportation (Caltrans) · Comment 2.1.1: Since current traffic volumes should be used whenever possible, 2002 data for Interstate 580 should be replaced with more current 2003 volume data which is available from the Department. Response: The Transportation and Circulation Environmental Setting portion of the DSEIR (page 93), is hereby amended by reference to read as follows: "Interstate 580 is an eight~lane east-west freeway that connects Dublin with local cities such as Uvermore and Pleasanton as well as regional origins and destinations such as Oakland, Haywood and Tracy. In the vicinity of the proposed Project, 1-580 carried between 186,000 and 198,000 vehicles per day (vpd) in 2003, based on Caltrans' Traffic Volumes for State Highways. I~580 has interchanges at Dougherty Road/Hopyard Road, Hacienda Drive, Tassajara Road/ Santa Rita Road and Fallon Road/ EI Charro Road." · Comment 2.1.2: A hydrology /hydraulic study should be prepared for the Department to determine project-related impacts on 100-year flow rates and flow conditions at the 1-580/Tassajara Road interchange. Project related drainage impacts should be evaluated and mitigation recommended where appropriate since the 100-year FEMA maps show the intersection of 1-580 and Tassajara Creek being subject to flooding. The project should include measures to reduce post-development flow rates to existing values. Response: The hydrology / hydraulic analysis prepared for the project by the applicant's engineer will be forwarded to Caltrans based on their request. Based on City of Dublin ordinances and development standards as well as the most recent C.3 stormwater quality standards enforced by the Regional Water Quality Control Board, development projects will be limited in the quantity of stormwater leaving respective sites. Therefore, it is unlikely that development of the Dublin Ranch West site would increase flooding on the 1- 580 freeway where the freeway intersects Tassajara Creek. · Comment 2.1.3: Development fees would be used to improve drainage infrastructure impacted by the project. Drainage improvements should include supplementing cross culverts under the freeway that have been overtaxed by unmitigated development. Response: Future development on the project site will be subject to local and regional drainage fees imposed by the City of Dublin and Zone 7. Upgrading of existing overtaxed culverts is beyond the scope of the Dublin Ranch West project. · Comment 2.1.4: Work that encroaches into a state right-of-way requires an encroachment permit issued by Caltrans. DUblin Ranch West Final Supplemental EIR City of Dublin Page 10 February 2005 I I I I I I I I I I I I I I I I I I I Response: Necessary encroachment permits will be obtained from Caltrans if required. Comment 2.2: State of California, Office of Planning and Research . Comment 2.2: The State Clearinghouse received the comment letter from Caltrans after the close of the DSEIR comment period. Response: Comment acknowledged. See responses to the Caltrans comment letter as Comment 2.1. Comment 3.1: Alameda County Flood Control and Water Conservation District Zone 7 (Zone 7) · Comment 3.1.1: Development on the project site will be subjed to drainage fees imposed by Zone 7. Response: Comment acknowledged. Payment of Zone 7 drainage fees will be a standard condition of development approval by the City of Dublin, · Comment 3.1.2: On page 121, Utilities and Services, storm drainage, replace the sentence "Zone 7 is responsible for master planning" with the following: "Zone 7 owns and maintains major storm drain channels in the Livermore- Amador Valley. Zone 7 is presently working on a Stream Management Plan to identify future channel improvements beneficial to the residents of the Valley." Correct the sentence that reads: "Drainage on the project area.. . conned with Zone 7 facilities south of 1-580," This should read: "Drainage on the project area.. . connect with Zone 7 facilities north of 1-580." Zone 7 does not typically maintain culverts, as they are usually owned by Caltrans. Response: Comment acknowledged. Requested revisions are reflected in the section of the FSEIR entitled "Corrections and Modifications to the DSEIR." · Comment 3.1.3: On page 125, Hydrology and Hydraulic Analysis, Zone 7 should be allowed to review the projed hydrology and hydraulic analysis. Response: Comment acknowledged. The City of Dublin Public Works depar1ment will transmit a copy of the hydrology and hydraulic analysis to Zone 7 for review and comment. · Comment 3.1.4: Zone 7's Salt Management Plan does not include demineralizing shallow groundwater and reinjecting it into the groundwater basin. Instead, it includes blending demineralization of a portion of produced groundwater with other water supplies for delivery to customers. Also, delete the word "water" from the term "salt-water." Make other corrections to wording involving the Salt Management Plan. Dublin Ranch West Final Supplemental EtR City of Dublin Page " February 2005 I I I I I I I I I I I I I I I I I I I Response: Comment acknowledged. Requested revisions are reflected in the section of the FSEIR entitled "Corrections and Modifications to the DSEIR." . Comment 3.1.5: In the Hydrology and Water Quality section of the Initial Study (page 39) it should be noted that all Mitigation Measures required by the Eastern Dublin EIR will require input from Zone 7 prior to implementation. Response: Comment acknowledged. Development of the Dublin Ranch West project, if approved by the City of Dublin, will be required to comply with Eastern Dublin EIR Mitigation Measures. . Comment 3.1.6: On page 51 of the Initial Study it should be noted that Zone 7 is a water wholesaler and does not serve the project directly. Zone 7 does not own or maintain any storm drain facilities within the project area. Also, correct the wording "new storm drainage facilities which would connect to existing facilities maintained and controlled by Alameda County Flood Control and Water Conservation District, Zone 7" with "new storm drain facilities, which would connect to existing facility owned and maintained by Zone 7." Response: Comment acknowledged. Requested revisions are reflected in the section of the FSEIR entitled "Corrections and Modifications to the DSEIR." Comment 3.2: East Bay Regional Park District . Comment 3.2: The proposed project would not be consistent with the District's 1997 Master Plan. The Master Plan located the Tassajara Creek Regional Trail along the ridge in the eastern vicinity of Parks RFTA and then proceeding northward towards Mt. Diablo State Park. The proposed project would locate the Regional Trail in a conidor between two areas proposed for low and medium density residential development. The Draft SEIR is inadequate because it does not address significant impacts associated with the lack of consistency with the Master Plan and the impacts from changing the existing open space to residential development adjacent to the regional trail corridor. Response: Based upon discussions between the East Bay Regional Park District staff, City of Dublin staff and the applicant for development of the Dublin Ranch West project, it was understood that the Park District supported a change to show the Regional Trail along the Tassajara Creek corridor, which would be consistent with the 1993 Eastern Dublin Specific Plan. In any event, the proposed Dublin Ranch West project does not change the original Park District regional trail location, but allows more flexibility for the District to provide an alternative location for the proposed regional trail. Dublin Ranch West Final Supplemental EIR City of Dublin Page'2 February 2005 I I I I I I I I I I I I I I I I I I I The City of Dublin believes the 1993 Eastern Dublin EIR adequately addressed the potential impacts of future trails adjacent to Tassajara Creek as shown in Eastern Dublin Specific Plan. The City has not identified any specific impacts with the requested land use change that would replace existing open space uses with Low Density Residential uses further to the west on the Dublin Ranch West property. Comment 3.3: Dublin San Ramon Services Dishict · Comment 3.3.1: The District notes that the proposed project would create a demand for approximately 320,000 gallons per day of potable water, Because of planning done by the District in cooperation with the City, this additional demand is identified in the District's Urban Water Management Plan. In 2004, the District completed a "Water Supply Analysis and Water Supply Assessment" for the proposed project in accord with the Agreement to Settle Water Litigation dated November 1999. The District notes that it has adequate water supplies to meet the increased demand for the proposed project. A portion of this demand would be met through extension of recycled water pipelines to the project site. Potable water pipelines must also be extended to the site. Coordination with the District must oCCUT with regard to pipeline sizes and locations and to ensure that there is no interference with regard to existing District facilities. No mitigation is necessary to obtain water supplies for this project. Response; Comment acknowledged and no further response is needed. · Comment 3.3.2: The District requires all new development to use recycled water. A portion of the proposed Dublin Ranch West project would fall into this category. A maximum expected average day demand of approximately 104,300 gallons per day would be needed for irrigation. The District's Water Master Plan indicates use of approximately 132,900 gallons per day of recycled water. The District's Water Master Plan will be updated to reflect the latter figure. Response: Comment acknowledged and no further response is needed. · Comment 3.3.3: The District has included anticipated increased wastewater flows from the Project into District and LA VWMA treatment and disposal facilities. Providing wastewater collection, treatment and export services is dependent on project compliance with District Codes and implementing the District Master Plan, policies and ordinances. The District has included the Project area in its Master Plan, so the Project may receive sewer service from the District and sanitary sewer lines must be extended to the Project site. Facilities must be constructed by the project applicant and dedicated to the District. Coordination with the District must Dublin Ranch West Final Supplemental EIR City of Dublin Page 13 February 2005 I I I I I I I I I I I I I I I I I I I occur with regard to pipeline sizes and locations and to ensure that there is no interference with regard to existing District facilities. Response: Comment acknowledged and no further response is needed. Comment 3.4: Alameda County Public Works Agency · Comment 3.4.1: Exhibit 16 shows a future Tassajara Road realignment. Transitions will be needed within the current project limits. Response: Comment acknowledged. The issue of roadway design and transitions will be dealt with at the subdivision and improvement plan stage of the Project, which will come after consideration of the currently requested land use entitlements and the DSEIR by the City of Dublin. · Comment 3.4.2: An evaluation should be made on construction impacts to adjacent County roads. Response: It is anticipated that construction vehicles and material trucks would access the Project site via Tassajara Road which is in the City of Dublin. Minimal, if any, construction impacts are anticipated to other County roads. · Comment 3.4.3: The DSEIR should evaluate impacts to existing County roads due to increased traffic. Potential traffic calming requirements may be needed for County roads. Response: The Transportation and Circulation section of the DSEIR (Impact TRA-2) notes that Project impacts to local roadways will be no greater than were analyzed in the 1993 Eastern Dublin ElR. · Comment 3.4.4: Roadway improvements should be made in the area between the jurisdictional boundary line and the most southerly limits of the project. This area has been subject to previous incidents due to limited shoulder area, motorist speed and reaction time for motorists. Since this section of the roadway has a curvilinear alignment, it is critical that road design standards and improvements be considered beyond the frontage of the road. Response: Comment noted and this comment does not relate to an environmental impact caused by the proposed Project. The commenter's request has been transmitted to the Dublin Public Works Department for consideration. · Comment 3.4.5: Regarding the future alignment of Tassajara Road and Fallon Road, it is important for right-of-way dedication to the ultimate alignment of this roadway. Dublin Ranch West Final Supplemental EIR City of Dublin Page'4 February 2005 I I I I I I I I I I I I I I I I I I I Response: Comment acknowledged. The issue of roadway design and right- of-way will be dealt with at the subdivision and improvement plan stage of the Project, which will come after consideration of the currently requested land use entitlements and the DSEIR. · Comment 3.4.6: It is suggested that a roadway conceptual plan be considered of the surrounding area. Although not all lands westerly of Tassajara Road are part of the proposed project, the ultimate development of this area will undoubtedly impact surrounding parcels and roadway improvements along Tassajara Road. Response: The conceptual roadway alignment in the Eastern Dublin area is set forth in the Eastern Dublin Specific Plan adopted by the City of Dublin in 1993. · Comment 3.4.7: Installation of a traffic signal, deceleration and acceleration lanes, potential for on-street bikes, shoulder improvements, street lighting and additional traffic control; signing and striping should be considered. These improvements are further summarized in the consultant's report attached to the DSEIR. Response: Roadway improvements as noted by the commenter will be considered at the time subdivisions and improvements are considered by the City of Dublin. Comment 4,1: Martin Inderbitzen · Comment 4,1.1: Exhibit 12 (Master Infrastructure Plan) does not illustrate elevation Zone 2 water lines in Tassajara Road north of the primary Project entry and in Fallon Road; DSRSD plans to have these lines placed in these street segments. Response: Comments acknowledged. Detailed infrastructure information will be supplied to Zone 7 prior to actual construction of the proposed project. · Comment 4.1.2: Page 14; replace "9.7" with "3.7." Response: Comment acknowledged. Requested revisions are reflected in the section of the FSEIR entitled "Corrections and Modifications to the DSEIR." · Comment 4.1.3: Page 18, under Utility Services, replace "westerly" with "easterly." Response: Comment acknowledged. Requested revisions are reflected in the section of the FSEIR entitled "Corrections and Modifications to the DSEIR." · Comment 4.1.4: Page 91, first line of page, replace "550" with "428." Dublin Ranch West Final Supplemental EIR City of Dublin Page 15 February 2005 I I I I I I I I I I I I I I I I I I I Response: Comment acknowledged. Requested revisions are reflected in the section of the FSEIR entitled "Corrections and Modifications to the DSEIR." . Comment 4.1.5: Page 141, first line of 5.4, Alternative 3, replace "8.7" with 117.8.11 Response: Comment acknowledged. Requested revisions are reflected in the section of the FSEIR entitled "Corrections and Modifications to the DSEIR." . Comment 4.1.6: On October 5,2004, the Dublin City Council held a workshop to discuss the Project, including potentia1locations and sizes of neighborhood parks. The Council selected an option, which would provide 7.66 acres of neighborhood parkland and 1.04 acres of Neighborhood Park that would be located on an adjacent parcel. This option also included 1.2 acres of land that could be devoted to either publici semi public or neighborhood park use. The City Council accepted the fact that some neighborhood park acreage could be moved off site if needed. Therefore, the Mitigation Measure PARK-l is recommended to be changed as follows: PARK-I: Prior to tentative map or Stage 2 Development Plan approval, whichever occurs first, the Project developer shall: a) Revise the land use program for the Dublin Ranch West site to provide an additiona11.04 net acres of Neighborhood Park land use designation in lieu of a publici semi-public use; or Pay in lieu fees for required Neighborhood Park acres. b) Response: Based on the commenter's request, the City of Dublin proposes to modify Supplemental Mitigation Measure PARK-l as follows, The mitigation measure is also recommended to be changed based on an inaccuracy discovered in the DSEIR, in that the anticipated deficiency in the amount of neighborhood parkland on the Project site would be 1.9 acres and not 1.04 acres as identified in the DSEIR. "PARK-I: As outlined below. the PrQject developer shall: a) Revise the ¡and use program for the Dublin Ranch West site to provide an additional 1.9 net acres of Neighborhood Park land use designation in lieu of a public I semi-public use: or As part of the Project Pre-Annexation Agreement. pay fees to the City of Dublin to compensate for the loss of 1.9 acres of Neighborhood Park land on the Proiect site. Fees shall be equal to the neighborhood park in-lieu fee amount charged to developers who do not have parkland on their prooer1;y as set th tin Communi Facili . effi t the f ivision ma recordin. s time of final subdivision map recordation." b) Dublin Ranch West Final Supplemental EIR City of Dublin Page 16 February 2005 I I I I I I I I I I I I I I I I I I I . Comment 4.1.7: Page 135, first paragraph after Supplemental Impact PARK-I, and revise "7.66 acres "with" 6.8 acres." Response: This comment is noted and the DSEIR is corrected by reference to read "6.8 acres." This revision is reflected in the section of the FSEIR entitled "Corrections and Modifications to the DSEIR." · Comment 4.1.8: The commenter does not believe the Biological Resource section of the DSEIR adequately considers the beneficial impact of the Tassajara Creek Management Zone for its unique beneficial effects on wildlife potentially impacted by the proposed Project. If the DSEIR were to consider this area as part of the environmental baseline, the document would then conclude that Project impacts to California Red-Legged Frog would be reduced to a level of insignificance. The Management Zone must be considered in conjunction with the Biological Opinion issued by the U.s. Fish and Wildlife Service dated 7/1/02 as well as the Project Area Mitigation and Monitoring Plan prepared by HT. Harvey and other related documents. Response: It is recognized that the Tassajara Creek Management Zone protects and benefits CRLF breeding habitat and adjacent uplands; however, it does not protect upland dispersal habitat connecting Camp Parks CRLF popula.tions with Tassa.jara Creek. Dispersal habitat is recognized by the u.s. Fish and Wildlife Service (Service) as one of the primary constituent elements of critical habitat for the CRLF. Critical habitat has been designated for the project site. The commenter implies that the Service has already considered impacts to CRLF dispersal habitat on the Dublin Ranch West project in the Service's Biological Opinion (2002) prepared for the Dublin Ranch project. However, the Biological Opinion does not reach any conclusions on the Dublin Ranch West project and only mentions under cumulative impacts that this project, along with 40 other potential development projects in Contra Costa and Alameda Counties, threatens habitat for the CRLF and CTS. The Biological Opinion does not include any incidental take authorization for loss of individuals on the Dublin Ranch West project nor does it consider any mitigation for loss of CRLF dispersal habitat. The Tassajara Creek Open Space Management Plan does not provide protection of a dispersal corridor through the Dublin Ranch West site between CRLF populations at Camp Parks and Tassajara Creek. · Comment 4.1.9: The wording ofBIO-l (b) should be modified to describe a salvage plan for California Tiger Salamander (CTS) rather than exclusively a trapping plan. BIO-2 should also be modified to delete the description of the existing passive exclusion barrier for penn anent use. Response: In response to the commenter's request and based on further review of potential CIS impacts. SM-BIO-l is revised as follows. Deletions are struck through and additions underlined. Dublin Ranch West Final Supplemental EIR City of Dublin Page 17 February 2005 I I I I I I I I I I I I I I I I I I I "A CTS management plan shall be developed by the Project proponents, and approved by the City of Dublin in consultation with CDFG and the USFWS, prior to construction activities. This measure shall also apply to construction of recreational trails in preserved areas. The Plan will detail how CIS will be managed before and during construction activities and will include the following: a) Installation of a temporary herpetological fence prior to any ground disturbance around the entire development footprint, which shall prevent CTS from entering the construction site and shall remain until the permanent fence or barrier is installed. The existing sr tRc can-cnt one-way barrier, if approved by the USFWS. is a functioning: temporary barrier: however. it is not located around the entire development fooq,rint. is cJ(tended and aj3 3'rs'isà fer "se BY tf¡e USFWS ŒMM: BIa 2). A maintenance schedule shall be included for this fencing. A salvage trapping aRà relsEatioR plan that details how aestivating CTS individuals will be adequately reIocated from the development footprint and into permanently preserved suitable aestivation habitat. Although the existing one-way exclusion barrier will allow migrating: breeding adults to exit the project area. non-breeding adults and juveniles may not migrate to potential breeding sites for one or more years. Salvage of these individuals should be accelerated by installation of trap arrays near burrow concentrations." b) Supplemental Mitigation Measure SM-BIO-2 is also revised as follows: "A permanent herpetological fence or barrier shall be installed around the entire development footprint following construction activities to prevent movement of CTS into the development area. Such fencing shall be designed to allow for movement of larger terrestrial wildlife species, but shall preclude CTS from climbing the fence. "Wit;h TJ¡¡F''\~ «F'proval, the one way barrier eUFrently in placc may bc c)(tended to FReet ~B R'lii;igaëeR rcquircmcnt." . Comment 4.1.10: The DSEIR states that CTS may breed in Tassajara Creek and that further surveys should be conducted in the creek. Based on previous surveys conducted by H.T. Harvey, no evidence of CTS breeding was found in Tassajara Creek and further surveys are not necessary. Response: Nocturnal CTS surveys conducted in 1993,1995, and 2000 did not find salamanders; however, a significant number were trapped in 2003/2004 in upland habitat in which those surveys were conducted. Since other amphibians successfully breed in Tassajara Creek, it is possible that conditions exist that provide suitable breeding habitat at least in years when there are few significant storm events. Evidence presented suggests that CTS breeding in Tassajara Creek would be an extremely rare event and additional larval Page,8 February 2005 Dublin Ranch West Final Supplemental EIR City of Dublin I I I I I I I I I I I I I I I I I I I surveys are no longer recommended. . Comment 4.1.11: Impact SM 810-4 states that approximately 110 acres of the Project site is aestivation habitat. H.T. Harvey staff believe the appropriate acreage is 97.2 acres. This is based on the development acreage of the site (Exhibit 11), Also, more flexibility in locating CTS mitigation sites are requested in the event suitable replacement habitat is not available in the Dublin/ Livermore area. It is recommended that the sentence "The mitigation aestivation habitat shall be located in the Dublin and Livermore Valley area and shall exhibit similar characteristics to the habitat lost" should be revised to read that the mitigation site "shall be located as close to the Dublin/Livermore Valley area as is practicable, and as approved by the USFWS and CDFG." Response: Based on further analysis, Supplemental Mitigation Measure SM- BIO-4 is revised to read as follows: "To compensate for the permanent loss of approximately 97.2 ~ acres of CTS aestivation habitat, and ensure the opportunity exists for recovery of this , within the Ama 'v rm re Valle ar un e Project proponent will acquire and preserve in perpetuity suitable CTS aestivation habitat at a 1:1 ratio adjacent to preserved, occupied CTS breeding and aestivation habitat and construct a breeding pond, or as required by the USFWS and CDFG. The mitigation aestivation habitat shall be located in the Amador and Livermore Valley area as close as is practicable. and as a~roved by the USFWS or CDFG. and shall exhibit similar characteristics to the abitat lost. In selecting off"site mitigation lands, preference shall be given to preserving one large block of habitat rather than many small parcels, linking preserved areas to existing open space and other high quality habitat, and excluding or limiting public use within preserved areas, Land selected for mitigation shall be permanently preserved through use of a conservation easement or similar method, approved by the City of Dublin in consultation with the USFWS and CDFG, and obtained prior to the issuance of any construction permits." . Comment 4.1.12: Impact SM BIO-7 should be modified to include "during ground disturbing activities." This is based on an assumption that buildout of this project would take several years. Also, the type of on-site contractor would change so that carpenters and similar trades would likely not encounter special-status species as would grading contractors. Response: Based on the information provided by the commenter and further research, Supplemental Mitigation Measure SM-BIO-7 is revised to read as follows: "During initial ~ound disturbing activities. ."'II project construction employees shall receive an educational training program that includes information on sensitive species identification and their potential habitat, Dublin Ranch West Final Supplemental EIR City of Dublin Page 19 February 2005 I I I I I I I I I I I I I I I I I I I approved mitigation. measures for the project, and actions employees should take if a sensitive species is encountered. This measure shall also apply to construction of recreational trails in preserved areas." . Comment 4.1.13: Regarding Impact SM BIO-8, movement by California Red- Legged Frogs (CRLF) would be in the drainage area of the creek and not in adjacent upland areas. The description of the upland dispersal for CRLF relies too heavily on definitions provided by critical habitat rulings rather than site- specific information regarding topography. In the commenter's opinion, the loss of potential upland habitat dispersal is not a significant impact under CEQA. Response: The City agrees that CRLF living in Tassajara Creek would likely spend most of their time in the drainage and not use the upland portions of the Dublin Ranch West area. However, the potential for CRLF to use upland portions of the site exists and CEQA requires that any project that affects or potentially affects a listed or protected species results in a mandatory finding of significant effect. The commenter acknowledges that it is possible that a few individuals may access and disperse across portions of the Dublin West site, yet states that the site is not U dispersal habitat." According to the USFWS, the healthiest CRLF populations persist as a collection of subpopulations that exchange genetic information through individual dispersal events. CRLF can move to and from populations to the west. The proposed project would further fragment potential dispersal habitat. · Comment 4.1.14: The Biological Opinion (BO) for the Dublin Ranch project, issued by the USFWS on 7/01/02, identified the T assajara Creek Open Space area as a mitigation site for the Dublin Ranch project and described the activities expected to occur within and adjacent to the Open Space area. The BO acknowledges future potential development on the Dublin Ranch West site as well as two creek crossings, It seems clear the USFWS thought that implementation of the Tassajara Creek Open Space Management PIan would serve to mitigate impacts to the Dublin Ranch project as well as provide adequate protection for CRLF using this reach of Tassajara Creek. Based on this, the commenter does not believe mitigation for loss of upland dispersal is necessary. Response: The Biological Opinion for Dublin Ranch does not specifically address habitat impacts and mitigation associated with the loss of upland dispersal habitat at the Dublin Ranch West site. . Comment 4.1.15: If the City insists that impacts to CRLF dispersal habitat are significant and require mitigation, on-site improvements to promote dispersal of CRLF to points west of the Project site would benefit CRLF more than the off-site mitigations proposed in SM-BIO-8. The applicant could enhance the drainage along the northern boundary of the Project site to provide better connectivity between aquatic habitats to the west and Tassajara Creek. The drainage within the Project site would be maintained as open space and man.aged to support CRLF dispersal. The drainage could be Dublin Ranch West Final Supplemental EIR City of Dubiin Page 20 February 2005 I I I I I I I I I I I I I I I I I I I enhanced by providing micro-topographic depressions or temporary ponds and/ or improving habitat for foraging and refuge, planting native vegetation (such as willows), and adding downed woody debris and natural rocks. Response: The City's consulting biologist notes that habitat enhancement of proposed open space alone would not mitigate for the loss of dispersal habitat. . Comment 4.1.16: Regarding Supplemental Mitigation Measure BIO-9, please clarify the wording "other sensitive wildlife species" on pages 1-11 and 1-12 and also on page 67. Depending on whether or not such species are listed, they mayor may not be addressed in the BO. These other species should specifically be identified. Response: Based on further research on this topic, Supplemental Mitigation Measure SM-BIo.9 is revised to read as follows: "a) Prior to construction of the proposed bridges, a map shall be prepared to delineate CRLF breeding habitat, construction and laydown areas, and areas of proposed temporary fill within Tassajara Creek. Pre- construction surveys within these areas shall be conducted by a qualified biologist (as approved by the City) with appropriate authorization to handle CRLF. If CRLF or CIS are found within the construction areas (or otRer sensitive wildlife Bf1eeies), they shall be immediately moved to undisturbed, preserved portions of Tassajara Creek if authorized in a Biological Opinion or other pennit issued by the USFWS for the Project. Construction, laydown, and temporary fill areas shall be fenced appropriately to prohibit CRLF and CTS movement into these areas, as supervised and verified by a qualified biologist. Construction activities and access shall be. confined to these fenced areas during construction activities. A qualified biologist will monitor the fence and construction activities daily when construction activities are conducted within Tassajara Creek. A qualified biologist with appropriate authorization f'ÐI'HlÎæ to relocate;my- CRLF or CTS in coniunction with a biological oJ'inion shall be available to the on-site biological monitor if CRLF or CIS (or OthCF sensitive widàlife Sfccies) are found within the fenced areas during daily construction monitoring; CRLF shall be relocated to undisturbed, preserved portions of Tassajara Creek, and CTS shall be relocated to the nearest protected u,pland habitat containing burrow habitat." . Comment 4.1.17: The commenter recommends that the statement "a biologist with appropriate permits to relocate CRLF..." should be revised to read" a qualified biologist with appropriate authorization to relocate CRLF in conjunction with a biological opinion." The USFWS does not issue general pennits to allow biologists to relocate CRLF; rather, this authorization would be granted on a project-specific basis in conjunction with a BO. Response: This comment is addressed in the Response to Comment 4.1,16. Dublin Ranch West Final Supplemental EIR City of Dublin Page 21 February 2005 I I I I I I I I I I I I I I I I I I I · Comment 4.1.18: Re: SM-BIO-11 (pages 1-14 and 68), the commenter believes impacts to nests of common birds are not significant under CEQA. Instead, these are regulatory compliance issues. Although pre-construction surveys for compliance with such regulations are advisable, they should be dealt with separately from CEQA. Response: The City believes the impacts identified in Supplemental Impact SM- 11 are significant under CEQA. However, based on the above comment and further research, Supplemental Mitigation Measure SM-BIO-11 is revised to read as follows: "Prior to any tree removal or ground disturbance, a qualified biologist (approved by the City) shall conduct special status breeding bird surveys throughout the development ~ortion of the PrQject area and within 250 feet in adiacent habitat~. Buffers s all be a minimum of 250 feet for raptors (although seRsiti."e ral'tsrs such as golden eagles. which are unlikely to nest on the Dublin Ranch West site. may require a much larger buffer), and between 50 and 100 feet for special status passerines depending on habitat type (50 feet in dense vegetation, 100 feet in open areas). Pre eensti'u.sasR Sur/C)'S shall take place throughout the àevels 3R'leRt l'SFliOR sf the Project area, includir.g SUf"'leys fer gTaoslaRà Biràs iHlà birds likely to nest along the Tassajara Creek corridor. Nesting status shall be monitored by a qualified biologist to determine when nests are no longer active. All activities shall be prohibited within the buffer until after young have fledged and / or moved out of the nest. This measure shall also apply to construction of recreational trails in preserved areas." · Comment 4.1.19: Re: SM-BIO-11 (pages 1-14 and 68), if the City insists on retaining SM-BIO-11, the commenter recommends that the statement about a breeding bird survey shall be conducted throughout the "Dublin Ranch West area" be revised to read "throughout the development portion of the Project area." Except for Golden Eagles, no nest surveys should be required in portions of the site more than 250 feet from proposed development. Response; Refer to Response to Comment 4.1.18. · Comment 4.1.20: Re: SM-BIO-11 (pages 1-14 and 68), the commenter recommends that the sentence" All activities shall be prohibited within the buffer until after the young have fledged and moved out of the nest." The word "and" should be replaced with "and/ or." The Killdeer could possibly nest on the site during construction. Due to characteristics of this species, there is no need for a buffer around a Killdeer nest to remain in place after the young have hatched and left the nest. Response; Refer to Response to Comment 4.1.18. · Comment 4.1.21: On pages 1-19 and 70, the "Topic/Supplemental Impact" should read "Biological Resources. Loss of Congdon's Tarplant," since this is Dublin Ranch West Final Supplemental ËrR City of Dublin Page 22 February 2005 I I I I I I I I I I I I I I I I I I I the only species to be considered of special status now to be present on the site. Response: Based on the comment and further research, the heading of Supplemental Impact B10-6 is revised as follows: "Supplemental Impact BI0-6: Loss of s¡;¡ecialstatus plants Congdon's T ax:plant" . Comment 4.1.22: On pages 1-19 and 70, SM-BIO-15, the commenter believes loss of approximately 630 individual Congdon's tarplant does not constitute a significant impact under CEQA, given the fairly widespread occurrence and abundance of this species. The T arplant is known to occur in sizeable numbers in the Livermore-Dublin area and the loss of approximately 630 plants would not be significant to the overall population. It is recommended that Mtigation Measure SM-BIO-15 be deleted. Response: The City notes that CEQA documents typically consider mortality and loss of habitat to special status plants and wildlife as a significant impact. . Comment 4.1.23: If the City insists that mitigation be provided to loss of Congdon's tarplant, mitigation should be performed for the number of individual plant impacts, not the acreage occupied by the species. A majority of individual plants are scattered at low densities over approximately 4 miles south of the existing residence; the remainder occur in small areas west of Tassajara Creek. Response: The City's consulting biologist agrees that mitigating the impact based on the number of Congdon's Tarplant individuals impacted would be more appropriate than on the acreage of occupied habitat. See the response to Comment 4.1.24 for recommended changes to Supplemental Mtigation Measure SM-BIO-15. · Comment 4.1.24: In 2003, HT. Harvey prepared a draft Mtigation and Monitoring Plan describing the establishment and management of Congdon's tarplant on approximately 0.8 acres surrounding a tarplant subpopulation within the Tassajara Creek Management Zone. The commenter recommends that the mitigation be revised to read: "The Dublin Ranch West Congdon's Tarplant Mtigation Monitoring and Reporting Plan (HTH, 2004) shall be implemented to compensate for removal of Congdon's Tarplant individuals. " Response: Based on additional research on this topic, Supplemental Mtigation Measure SM-BI0-15 is revised to read as follows: "The majori1;y of Congdon's taq>lants are scattered at low densities over approximately four acres south of the existing residence on the site; the remaining individuals to be impacted occur in small areas west of Tass~ara Creek. Studies conducted by H.T. Harvey & Associates have revealed five Dublin Ranch West Final Supplemental EIR City of Dublin Page 23 February 2005 I I I I I I I I I ,. I I I I I I I I I I subpopulations within the Tass¡¡.iara Creek Management Zone (TCMZ) that average approximately 500 individuals on 0.5 acre each. Based on this information. the +fie project shall establish and manage approximately 0.63 acres of create one acre sf REi,': s..upied habitat for Congdon's tarplant fuF- every sRe aerc of c¡d~ting CSRgàsR's taFflæ1t habitat lost within 8liitlilàlEi, en site ¡¡-reserved habitat (such as the TCMZ. Following CDFG and Cit;y approval. the Dublin Ranch West Congdon's Tarplant Mitigation and Monitoring Plan (HI. Harvey & Associates 2004) shall be implemented to compensate for the loss of Congdon's tarplant individuals. project a¡¡-¡¡-liEaRt sRaU àevdop aJ'.d implement a detaÜeà Hiaga1åon and Monitoring PlaR te fully eeffi¡¡-emate for impacts to Congdon's tai'!'læ1.t. Tnc plan sflall indude tfle mitigation design, ffiethoàs sf sah'agc of existing oeeà, æaiRteflaRee methods (iRehlEHRg '\'ced management), msRÎtsFÎ.ng ¡¡-roccdurcs and pcrfofffiance criteria, re 3sraRg reEJ.1iirementG, and a ceFlëFlgemy æeaGure to preserle enisling off site occupied CongàsFl's tarplant habitat at an eEJ:ual amount to lost ha!?itat in case of mitigation faillil'e. The project profonent shall provide a secure funding source (such as a performance bond for the implementation of the mitigation plan and long-term maintenance and monitoring of the mitigation area. The created mitigation area must be preserved in perpetuity (such as through a permanent conservation easement). The Mitigation and Monitoring Plan must be approved by the City prior to the issuance of grading permits for the project. Mitigation shall require a minimum of five years of monitoring and annual monitoring reports shall be provided to the City." · Comment 4.1.25: H.T. Harvey & Associates has mapped the riparian vegetation along Tassajara Creek and so has determined that impacts of bridges across Tassajara Creek more precisely at 0.31 acres. This was determined by overlying bridge plans over the riparian habitat map. Response: Based on this additional information, the acreage in Supplemental Impact BIO-7 is revised from "1.0 acres" to "0.31 acres." · Comment 4.1.26: Re SM-BIO-16 (pages 1-12 and 71), H.T. Harvey & Associates has developed a riparian habitat mitigation and monitoring plan for the Project site. The comrnenter recommends that SM-BIO-16 be revised to read "The Dublin Ranch West Riparian Mitigation and Monitoring Plan (HTH, 2004) shall be implemented to compensate for the removal of riparian vegetation, subject to the approval of the CDFG and City." Response: On January 11, 2005, the ftp site provided by the commenter did not include a folder named Dublin West. If the HTH Riparian Mitigation and Monitoring Plan contains the requirements described in SM-BIO-16, and is approved by CDFG and the City, then it would meet the mitigation and monitoring plan requirement of the mitigation measure. · Comment 4.1.27: The sentence on page 47, "The portions of the Project area has been used for cattle grazing," should be revised for clarity and grarrunar Dublin Ranch West Final Supplemental EIR City of Dublin Page 24 February 2005 I I I I I I I I I I I I I I I I I I I salamander has been listed as threatened and critical habitat has been dCGignatcd proposed. ... All of the Project area to the west of Tassajara Creek is within proposed critical habitat Unit 18 of the Central Valley Region." · Comment 4.1.33: On page 56, the document states that no larval surveys for CTS have been conducted in Tassajara Creek vvithin the Dublin Ranch West area and that larval surveys conducted in this drainage by HTH were downstream of this site. The commenter notes that such surveys were conducted on the Project site in 1993,1995 and 2000. Since the creek is deep with strong flows, CTS larval surveys were focused on habitat within the Creek drainage that approached potential breeding habitat, which is an isolated ox-bow. Response: See responses to comments 4.1.10, and 4.1.36-.41 related to CIS. · Comment 4.1.34: On page 60, state CEQA Guidelines were amended to add the term "substantial" before the phrase "reduce the number or restrict the range of an endangered, rare or threatened species for a mandatory finding of significance. Response: Based on the comment, the impact bullet on Page 60 is revised to read as follows: "Substantially-Rreduce the number or restrict the range of an endangered, rare or threatened species;" · Comment 4.1.35: On page 66, the document notes that CRLF populations in Tassajara Creek are further isolated from potential breeding locations northwest and southwest of the Dublin Ranch area. Because the primary dispersal areas for CRLF and the drainage area to the west have been enhanced by the TCMZ or could be enhanced, CRLF will not be isolated from areas to the west due to loss of upland dispersal habitat that is likely infrequently used by CRLF. Response: It is the City's consulting biologist's opirùon that enhancement of occupied or potentially occupied habitat in the TCMZ and/ or drainage on the northern edge of the site would not mitigate for the loss and fragmentation of CRLF dispersal habitat. · Comment 4.1.36: Studies completed by HTH determined that Tassajara Creek itself is not potential breeding habitat for CIS. Therefore CIS larval studies were focused oIÙY on habitat in the Creek that approached breeding habitat, which is an existing ox-bow. No evidence of CTS breeding was found in the ox-bow or elsewhere in Tassajara Creek. Response: Current USFWS survey protocol typically includes both aquatic sampling and pitfall trapping. Pitfall trapping was not conducted adjacent to Tassajara Creek, so it has not been determined whether or not CTS were moving toward the stream. CTS were trapped at the southern end of the Dublin Ranch West Final Supplemental EIR City of Dublin Page 26 February 2005 I I I I I I I I I I I I I I I I I I I traplines within approximately 300 feet of Tassajara Creek. It is possible that CTS reproduced in small numbers in Tassajara Creek during previous surveys and remained undetected. According to the Dublin Ranch West Biotic Resources report (HTH 2002), adult CTS went undetected during surveys conducted in 1993,1996.1998, and 2001. However, based on all evidence in existing literature, there is a very low probability that CTS reproduce in Tassajara Creek, and we are dropping our recommendation that CTS larval aquatic surveys of Tassajara Creek be conducted. . Comment 4.1.37: Based on flow studies completed by MacKay & Somps in Tassajara Creek, CTS do not breed in the Creek. Response: Observations of the Moller drainage in December 2002 made by the City's consulting biologist during a stonn event indicated that this drainage experiences rugh flows. The presence of CTS within ten meters of both banks of the Moller drainage less than one mile upstream from its confluence with Tassajara Creek suggests that CIS may breed following rugh flows. In some dry years or after the rugh-flow season, suitable conditions may exist for successful CTS breeding in the stream, however there is a very low probability that CTS reproduce in Tassajara Creek, and the recommendation that CIS larval aquatic surveys of Tassajara Creek be conducted has been deleted. . Comment 4.1.38: Based on infonnation contained in the DSEIR, HTH Associates searched the California Natural Diversity Data Base for the possibility of CTS breeding in Tassajara Creek. No record was found that breeding occurred in a stream or natural drainage. Response: The City's consulting biologists observed adult CTS along both banks of the Moller tributary to Tassajara Creek in December 2002. The nearest aquatic habitat was stock ponds approximately one mile north and south of the stream. Based on this observation, it can be assumed that CTS likely breed in the Moller drainage following rugh flows. H.T. Harvey's assertion that CTS do not breed in stream or natural drainage habitats, based on their review of CNDDB records for Alameda and Contra Costa Counties, is partially lacking in scientific proof and objectivity. CNDDB records represent a volunteer reporting of survey results that have been conducted by numerous biologists over the course of many years, often employing diverse survey techniques that mayor may not include surveys for larvae and mayor may not have included surveys in "unsuitable" drainage habitat. Records in the CNDDB provide inconsistent data on location and habitat of the observed species and many lack a habitat description altogether. Infonnation mayor may not be available in these records explaining what type of survey was conducted (nocturnal flashlight survey, larval pitfall survey, funnel trap survey, incidental). Dublin Ranch West Final Supplemental EIR City of Dublin Pag e 27 February 2005 I I I' I I I I I I I I I I I I I I I I Of the 258 records H.T. Harvey reviewed for Contra Costa and Alameda Counties, 140 records documented evidence of breeding but only 29 of these records specifically mentioned CTS breeding in natural ponds while 109 records recorded breeding in artificial ponds. None of the 140 records indicated breeding occurred within streams or natural drainages, therefore HT Harvey concluded that breeding in this habitat does not occur. Based on this type of reasoning, one could also conclude from this CNDDB data that CTS prefer breeding in artificially constructed ponds rather than natural occurring pond habitat. Eighteen of the 258 CNDDB records from Alameda and Contra Costa indicate observations of adult CTS in habitats in and adjacent to natural drainage courses. There is no disputing that CTS are overwhelmingly associated with seasonal pond habitats for breeding purposes. However, there is simply not enough information about this species for consultants to decide if adult CTS observed adjacent to drainage habitat wi11 or will not breed within such an environment. Despite the issue with using CNDDB records as scientific evidence in this case, the consultant biologist believes that the existing survey results for this species in the project vicinity suggests there is a very low probability that CTS reproduce in Tassajara Creek, and the recommendation that CTS larval aquatic surveys of Tassajara Creek be conducted is being deleted. · Comment 4.1.39: Streams are not included as a primary constituent element for CTS breeding based on the USFWS's " Designation of Critical Habitat for the California Tiger Salamander." Response: Streams could be considered "other ephemeral or permanent water bodies that typically become inundated during winter rains and hold water for a sufficient length of time necessary for the species to complete the aquatic portion of its life cycle." However, recent evidence presented suggests that there is a very low probability that CIS reproduce in Tassajara Creek, and the DSEIR recommendation that CTS larval aquatic surveys of Tassajara Creek be conducted is being deleted. · Comment 4.1.40: Exotic species knOWI\ to have a significant negative effect on CTS by preying on eggs and larval salamanders include mosquitofish, bluegill and crayfish. All are found in high numbers in Tassajara Creek adjacent to the Proj ect site. Response: According to the Dublin Ranch Tassajara Creek Conservation Habitat Management Plan (HTH 2003), there is a general lack of centrarchid fishes, crayfish, and bullfrogs within the Tassajara Creek Management Zone. · Comment 4.1,41: Mainstream literature regarding CTS described breeding habitat as vernal pools. seasonal and perennial ponds and possibly quiet pools of streams, but no studies have indicated that streams with high winter flows such as Tassajara Creek provide suitable breeding habitat for CTS. The comment provided a number of references. Dublin Ranch West Final Supplemental EIR City of Dublin Page 28 February 2005 I I I I I I I I I I I I I I I I' I I I Response: This comment is noted, · Comment 4.1.42: The commenter believed that the high flows in Tassajara Creek during the winter months and previous experience of the commenter, that Tassajara Creek does not provide suitable breeding habitat for CTS. Response: Based on the evidence presented, the City's biologist has concluded that there is a very low probability that CIS reproduce in Tassajara Creek, and the recommendation that CIS larval aquatic surveys of Tassajara Creek be conducted is being deleted. · Comment 4.1.43: The commenter notes that there are a few areas where CRLF may exit the Project site from the Tassajara Creek riparian zone; however, most of the western barù< is a vertical wall of over 20 feet, making it very difficult if not impossible for CRLF to access the Project site, Therefore, CRLF could not readily exit from known areas of frog residence in the Creek onto the Project site. Resp?nse: See responses to Comments 4.1.47 and 4.48 dealing with CRLF speCIes. · Comment 4.1.44: A recent study of habitat use by CRLF in coastal forest and grassland suggests that an essential component is the presence of concealing cover. This cover is necessary to protect frogs from desiccation and predation during periods of inactivity. Although ground squirrel burrows may provide some cover, the Project site lacks sufficient cover in the flat areas near Tassajara Creek that would be necessary for the kinds of upland habitat use and dispersal as described in the DSEIR. Dispersing frogs would therefore be subject to desiccation and predation due to lack of cover. Response: See response to comment 4.1.45. · Comment 4.1.45: The study referenced in Comment 4.1.44 was conducted in Santa Cruz County where the risk of desiccation to CRLF is not as great as the East Bay. Based on personal experience with CRLF, the commenter has found a markedly higher tendency toward upland dispersal in mesic coastal areas than the dryer East Bay, such as the Project site. Response: The commenter's opinion is noted. · Comment 4.1.46: If CRLF were present in the upland dispersal habitat as identified in the DSEIR, then individual frogs should have been detected in the trap array installed for the CIS along the western boundary of the Project site during the 2003-04 winter season. This argument is strengthened by the fact that 56 post-metamorphic frogs and 1,973 tadpoles were placed in Tassajara Creek during the summer of 2003 and these should have been intersected in the trap array when this became operational in October 2003. The only amphibians fourld in the trap array were CIS, yellow-eyed Dublin Ranch West Final Supplemental EIR City of Dublin Page 29 February 2005 I I I I I I I I I I I I I I I I I I I salamanders and Pacific treefrogs, even though a large number of frogs and tadpoles were translocated only 350 feet from the trap array. Response: It is not dear in the comment whether all 586 post-metamorplùc frogs and 1,973 larvae were released at one point 350 feet from the trap array, or distributed throughout Tassajara Creek. Larvae probably experience lùgh mortality rates. Estimated larvae survival rates to metamorphosis cited by the USFWS (2004) range from less than one percent to five percent. Based on these estimates, roughly 20 to 200 of the released larvae would survive through metamorphosis. Depending on where the release point(s) is located, it is unknown whether the released post~ metamorplùc frogs and those larvae surviving to metamorphosis would have encountered the trap array. . Comment 4.1.47: The drainage on the northern edge of the site currently provides a dispersal corridor for CRLF that might disperse between Tassajara Creek and areas to the west of the Project site, such as Parks RFTA. In fact, CRLF are likely to use this drainage for dispersal far more than they would use the upland portion of the Project site due to a gentler slope out of the Tassajara Creek drainage, the presence of concealing cover within and near the drainage north of the site, and moisture within the drainage. Response: According to the USFWS, CRLF will make long-distance. straight- line, poinHo-point movements rather than using corridors for moving between habitats. The USFWS also cites a study in Santa Cruz County where dispersing adult frogs moved without apparent regard to topography, vegetation type, or riparian corridors. Tlùs suggests that CRLF dispersing to or from populations to the west may move through any portion of the Dublin Ranch West site. . Comment 4.1.48: In summary, the commenter expects CRLF in Tassajara Creek to leave the drainage and disperse onto or across upland areas west of the creek oIÙy on rare occasions, and the upland portions of the Project site do not represent important habitat for these species. Even if egress were not constrained by creek topography, adult CRLF would oIÙY be expected to leave the drainage for brief foraging bouts during the wet season and stay witlún the buffer zone near the Creek. The commenter does not believe the Project site is a migratory corridor between Tassajara Creek and known CRLF sites further west. The dry nature of the upland area of the Project site, the lack of concealing cover on the upland portion of the site, the high quality of CRLF habitat along Tassajara Creek itself and the lack of captures of CRLF dispersing across the upland by the CTS trapping array during the winter of 2003-04 lead to the conclusion that the proposed Project would not lead to a significant impact to CRLF. Response: The City's biologist agrees that juvenile CRLF disperse more widely over upland areas than adults, Juveniles were observed in heavily grazed grassland with minimal cover in the Eastern Dublin area in 2004, suggesting that CRLF juveniles disperse even when cover is poor. Poor cover on the DUblin Ranch West Final Supplemental EIR City of Dublin Page 30 February 2005 I I I I I I I I I I I I I I I I I I I Dublin Ranch West site would not preclude CRLF from using it during dispersal. Also, although CRLF dispersing from Tassajara Creek to the west may face restricted access to the Dublin Ranch West site, those dispersing from the Camp Parks area to the east toward Tassajara Creek, and ultimately upstream or downstream, would encounter less-challenging topography. Dublin Ranch West Final Supplemental EIR City of Dublin Page 31 February 2005