Loading...
HomeMy WebLinkAboutAppendix A - Citrus and Oleander Avenue at Santa Ana Avenue Notice of Preparation of a City of Fontana Planning Department 8353 Sierra Avenue Fontana, CA 92335 Project Name: Citrus & Oleander Avenue at Santa Ana Avenue Page 1 Notice of Preparation of a Draft EIR and Scoping Meeting Date: November 18, 2022 To: Public Agencies and Interested Parties Subject: Notice of Preparation of a Draft Environmental Impact Report and Scoping Meeting Project Title: Citrus & Oleander Avenue at Santa Ana Avenue The City of Fontana, as lead agency under the California Environmental Quality Act (CEQA), will prepare an Environmental Impact Report (EIR) for the Citrus & Oleander Avenue at Santa Ana Avenue Project (the “Project”). In accordance with Section 15082 of the CEQA Guidelines, the City has issued this Notice of Preparation (NOP) to provide responsible agencies, trustee agencies, and other interested parties with information describing the proposed Project and its potential environmental effects. The purpose of this notice is to: 1) serve as the Notice of Preparation of an Environmental Impact Report for the Office of Planning and Research (OPR), Responsible Agencies, public agencies involved in funding or approving the project, and Trustee Agencies responsible for natural resources affected by the project, pursuant to CEQA Guidelines Section 15082; 2) advise and solicit comments and suggestions regarding the preparation of the EIR, environmental issues to be addressed in the EIR, and any other related issues, from interested parties, including interested or affected members of the public; and 3) advertise a public meeting to solicit comments from public agencies and interested parties regarding the scope of study in the EIR. Project Location The Project Site is located north of Santa Ana Avenue and south of Jurupa Hills High School, between Citrus Avenue and Oleander Avenue, and at the northeast corner of the Santa Ana Avenue and Oleander Avenue intersection. The approximately 29.8-acre Project Site includes 18 parcels, including Assessor Parcel Numbers (APNs) 0255-011-13, -14, -15, -18, -19, -25, -26, -27, -28, -29, -30, -31, and -32, and 0255-021-17, -18, -22, -23, and -24. Project Description The Citrus & Oleander Avenue at Santa Ana Avenue Project entails the proposed development of approximately 24.4-acres of a 29.4-acre Project Site with three commerce center buildings. A General Plan Amendment (GPA), Zone Change Application (ZCA), and Specific Plan Amendment are proposed for the entire 29.4-acre Project Site. The GPA would revise the General Plan designation of the 24.4-acres to be developed from Residential Planned Community (R-PC) and Multiple-Family Medium/High Residential (R-MFMH) to General Industrial (I-L) and the City of Fontana NOTICE OF PREPARATION Project Name: Citrus & Oleander Avenue at Santa Ana Avenue Page 2 ZCA would change the zoning designation from Residential Planned Community (R-PC) and Multiple-Family Medium/High Density Residential (R-4) to Southwest Industrial Park (SWIP) Specific Plan. For the 5.0-acre parcel that will not be developed, the GPA would revise the General Plan designation from Multi-Family Medium/High Residential (R-MFMH) to General Industrial (I-L) and the ZCA would change the zoning designation from Multi- Family Medium/High Residential (R-4) to Southwest Industrial Park (SWIP) Specific Plan, Slover East Industrial District. The SPA would amend the SWIP Specific Plan Land Use Plan to expand the SWIP boundary to include the Project Site. No development is currently proposed on APN 0255-011-15. Design Reviews and Tentative Parcel Maps (TPMs) are proposed for 24.4-acres of the Project Site on all the parcels except 0255-011-15. The entitlements include the following: Master Case No. (MCN) No. 22-053, Design Review Project (DRP) No. 22-029 (Building No. 1), Tentative Parcel Map (TPM) No. 22-009 (Building No. 1), Design Review No. 22-061 (Building No. 2) Tentative Parcel Map (TPM) No. 22-030 (Building No. 2), Design Review No. 22-062 (Building No. 3), Tentative Parcel Map (TPM) No. 22-031 (Building No. 3), General Plan Amendment (GPA) No. 22-004, Zone Change Application (ZCA) No. 22-005, and Specific Plan Amendment No. 22-002. The three commerce center buildings are designated as “Building 1,” “Building 2,” and “Building 3” for reference purposes. Building 1 is proposed at the northeast corner of the intersection of Citrus Avenue and Santa Ana Avenue and would contain 151,618 s.f. of floor area including 141,618 s.f. of commerce center space and up to 10,000 s.f. of supporting office space. A screened truck court with 17 loading docks and 44 trailer parking spaces would be provided on the east side of the building. Passenger vehicle parking would occur to the north and east of the building. Building 2 is proposed at the northwest corner of the intersection of Oleander Avenue and Santa Ana Avenue and would contain 196,336 s.f. of floor area including 180,336 s.f. of commerce center space and up to 16,000 s.f. of supporting office space. A screened truck court with 26 loading docks and 44 trailer parking spaces would be provided on the west side of the building. Passenger vehicle parking would occur to the east and west of the building. Building 3 is proposed at the northeast corner of the intersection of Oleander Avenue and Santa Ana Avenue and would contain 192,895 s.f. of floor area including 176,895 s.f. of commerce center space and up to 16,000 s.f. of supporting office space. A screened truck court with 26 loading docks and 44 trailer parking spaces would be provided on the east side of the building. Passenger vehicle parking would occur to the east and west of the building. Buildings 1, 2, and 3 are designed to reach heights of 39 feet, 6 inches feet above the finished floor elevation; however, the buildings would have a varied roofline and the maximum height (including parapets) would extend to 44 feet, 6 inches feet above finished floor elevation. The buildings would be constructed of concrete tilt-up panels painted in various shades of white and gray and low-reflective blue glass would be used for windows. Decorative building elements include panel reveals, parapets, mullions, and canopies at office entries. The Project is being developed on a speculative basis and the three proposed buildings could operate 24 hours per day, 7 days per week. EIR Scope CEQA Guidelines Section 15063 grants Lead Agencies the ability to bypass preparation of an Initial Study and proceed with preparation of an EIR in instances where an EIR is clearly required for a project. In this instance, the City of Fontana in its capacity as Lead Agency for the proposed Project has determined that the Project clearly has the potential to result in significant environmental effects and that an EIR shall be prepared that City of Fontana NOTICE OF PREPARATION Project Name: Citrus & Oleander Avenue at Santa Ana Avenue Page 3 addresses the following environmental considerations: • Aesthetics • Land Use and Planning • Agriculture and Forestry Resources • Mineral Resources • Air Quality • Noise • Biological Resources • Population and Housing • Cultural Resources • Public Services • Energy • Recreation • Geology and Soils • Transportation • Greenhouse Gas Emissions • Tribal Cultural Resources • Hazards and Hazardous Materials • Utilities and Service Systems • Hydrology and Water Quality • Wildfire The EIR will assess the effects of the Project on the environment, identify potentially significant impacts, identify feasible mitigation measures to reduce or eliminate potentially significant environmental impacts, and discuss potentially feasible alternatives to the Project that may accomplish basic objectives while lessening or eliminating any potentially significant Project-related impacts. Opportunity for Public Review and Comment This Notice is available for review on the City’s website at: https://www.fontana.org/2137/Environmental- Documents. The City of Fontana would like to receive your input on the scope of the information and analysis to be included in the EIR. Due to time limits, as established by CEQA, your response should be sent at the earliest possible date, but no later than thirty (30) days after publication of this notice. Please submit your comments by 5:00 p.m. on December 19, 2022 by mail or e-mail to: Salvador Quintanilla Phone: (909) 350-6656 City of Fontana Fax: (909) 350-7676 8353 Sierra Avenue Email: squintanilla@fontana.org Fontana, CA 92335 Please include the name, phone number, and address of a contact person in your response. Scoping Meeting The City of Fontana will hold a public scoping meeting, where agencies, organizations, and members of the public will receive a brief presentation on the Project and will have the opportunity to provide comments on the scope of the information and analysis to be included in the EIR. The meeting will be held on: Date and Time: December 7, 2022 at 6:00 p.m. to 7:00 p.m. City of Fontana NOTICE OF PREPARATION Project Name: Citrus & Oleander Avenue at Santa Ana Avenue Page 4 Place: Virtual Meeting Link to join on a computer or mobile app: https://teams.microsoft.com/dl/launcher/launcher.html?url=%2F_%23%2Fl%2Fmeetup- join%2F19%3Ameeting_NjBkM2YwNWQtY2MwNi00OTcyLTkxNjQtZTgyMmY4ZWZlOGYz %40thread.v2%2F0%3Fcontext%3D%257b%2522Tid%2522%253a%2522ff8f3b3d-31f5- 45ff-b2d8-933f061858cf%2522%252c%2522Oid%2522%253a%25227bd54965-35ce- 4773-937e-ce6013d988b5%2522%257d%26anon%3Dtrue&type=meetup- join&deeplinkId=e56c131e-e802-4746-abd4- 67cc09d78056&directDl=true&msLaunch=true&enableMobilePage=true&suppressProm pt=true Or go to: https://www.microsoft.com/en-us/microsoft-teams/join-a-meeting Enter Meeting ID: 216 253 056 33 Enter Meeting Passcode: pttLui Or Dial-In Number: +1 323-673-4554 Phone Conference ID: 931471219# Attachments: Figure 1 – Regional Map Figure 2 – Vicinity Map Figure 3 – Master Site Plan OFFICIAL USE ONLYPROJECT DATAVICINITY MAP/#56'45+6'2.#0DAB-A1.0Owner:Project:Consultants:2TQLGEV0WODGT4GXKUKQP&CVG&TCYPD[6KVNG5JGGV%+8+.5647%674#./'%*#0+%#.2.7/$+0)'.'%64+%#..#0&5%#2'51+.5'0)+0''4(+4'2416'%6+10&*HCZVGNGOCKNJRC"JRCTEJUEQOKTXKPGECDCTFGGPCXGPWGÄUVGJRCKPEÄ*WPVGTÄÄÄ6$&0'92146%'06'4&46'.  ÄA6JKGPGUÄÄ%+6475 1.'#0&'4#8'#65#06##0##8'(106#0#%#SITESITE PLAN GENERAL NOTES1. THE SITE PLAN BASED ON THE SOILS REPORT PREPARED BY: TBD2.IF SOILS ARE EXPANSIVE IN NATURE, USE STEEL REINFORCING FOR ALL SITECONCRETE.3.ALL DIMENSIONS ARE TO THE FACE OF CONCRETE WALL, FACE OF CONCRETECURB OR GRID LINE U.N.O.4.SEE "C" PLANS FOR ALL CONCRETE CURBS, GUTTERS AND SWALES.5.THE ENTIRE PROJECT SHALL BE PERMANENTLY MAINTAINED WITH ANAUTOMATIC IRRIGATION SYSTEM.6.SEE "C" DRAWINGS FOR POINT OF CONNECTIONS TO OFF-SITE UTILITIES.CONTRACTOR SHALL VERIFY ACTUAL UTILITY LOCATIONS.7.PROVIDE POSITIVE DRAINAGE AWAY FROM BLDG. SEE "C" DRAWINGS.8.CONTRACTOR TO REFER TO "C" DRAWINGS FOR ALL HORIZONTAL CONTROLDIMENSIONS. SITE PLANS ARE FOR GUIDANCE AND STARTING LAYOUT POINTS.9.SEE "C"DRAWINGS FOR FINISH GRADE ELEVATIONS.10.CONCRETE SIDEWALKS TO BE A MINIMUM OF 4" THICK W/ TOOLED JOINTS AT 6'O.C. EXPANSION/CONSTRUCTION JOINTS SHALL BE A MAXIMUM 12' EA. WAY.EXPANSION JOINTS TO HAVE COMPRESSIVE EXPANSION FILLER MATERIAL OF1/4". FINISH TO BE A MEDIUM BROOM FINISH U.N.O.11.PAINT CURBS AND PROVIDE SIGNS TO INFORM OF FIRE LANES AS REQUIREDBY FIRE DEPARTMENT.12.CONSTRUCTION DOCUMENTS PERTAINING TO THE LANDSCAPE ANDIRRIGATION OF THE ENTIRE PROJECT SITE SHALL BE SUBMITTED TO THEBUILDING DEPARTMENT AND APPROVED BY PUBLIC FACILITIES DEVELOPMENTPRIOR TO ISSUANCE OF BUILDING PERMITS.13.PRIOR TO FINAL CITY INSPECTION, THE LANDSCAPE ARCHITECT SHALL SUBMITA CERTIFICATE OF COMPLETION TO PUBLIC FACILITIES DEVELOPMENT.14.ALL LANDSCAPE AND IRRIGATION DESIGNS SHALL MEET CURRENT CITYSTANDARDS AS LISTED IN GUIDELINES OR AS OBTAINED FROM PUBLICFACILITIES DEVELOPMENT.15.ALL VERTICAL MOUNTING POLES OF CHAIN LINK FENCING SHALL BE CAPPED.16.LANDSCAPED AREAS SHALL BE DELINEATED WITH A MINIMUM SIX INCHES (6")HIGH CURB.17. ALL SIGNAGE SHALL BE LEGIBLE, DURABLE, AND WEATHERPROOF.SITE LEGENDPATH OF TRAVELLANDSCAPED AREA26' WIDE FIRELANECONCRETE PAVING.SEE "C" DRWGS. FORTHICKNESSSTANDARD PARKING STALL(9' X 19')ACCESSIBLE PARKING STALL(9' X 19') W/ 5' ACCESSIBLEAISLEACCESSIBLE PARKING STALL (VAN)(12' X 19') W/ 5' ACCESSIBLEAISLEPROJECT INFORMATION State of California – Natural Resources Agency GAVIN NEWSOM, Governor DEPARTMENT OF FISH AND WILDLIFE CHARLTON H. BONHAM, Director Inland Deserts Region 3602 Inland Empire Boulevard, Suite C-220 Ontario, CA 91764 www.wildlife.ca.gov Conserving California’s Wildlife Since 1870 December 12, 2022 Sent via email Mr. Salvador Quintanilla Senior Planner City of Fontana 8353 Sierra Avenue Fontana, CA 92335 (909) 350-6556 squintanilla@fontana.org Subject: Notice of Preparation of a Draft Environmental Impact Report Citrus & Oleander Avenue at Santa Ana Avenue Project State Clearinghouse No. 2022110389 Dear Mr. Quintanilla: The California Department of Fish and Wildlife (CDFW) received a Notice of Preparation (NOP) of a Draft Environmental Impact Report (DEIR) from the City of Fontana for the Citrus & Oleander Avenue at Santa Ana Avenue Project (Project) pursuant the California Environmental Quality Act (CEQA) and CEQA Guidelines.1 Thank you for the opportunity to provide comments and recommendations regarding those activities involved in the Project that may affect California fish and wildlife. Likewise, we appreciate the opportunity to provide comments regarding those aspects of the Project that CDFW, by law, may be required to carry out or approve through the exercise of its own regulatory authority under the Fish and Game Code. CDFW ROLE CDFW is California’s Trustee Agency for fish and wildlife resources, and holds those resources in trust by statute for all the people of the State. (Fish & G. Code, §§ 711.7, subd. (a) & 1802; Pub. Resources Code, § 21070; CEQA Guidelines § 15386, subd. (a).) CDFW, in its trustee capacity, has jurisdiction over the conservation, protection, and management of fish, wildlife, native plants, and habitat necessary for biologically sustainable populations of those species. (Id., § 1802.) Similarly, for purposes of CEQA, CDFW is charged by law to provide, as available, biological expertise during public agency environmental review efforts, focusing specifically on projects and related activities that have the potential to adversely affect fish and wildlife resources. 1 CEQA is codified in the California Public Resources Code in section 21000 et seq. The “CEQA Guidelines” are found in Title 14 of the California Code of Regulations, commencing with section 15000. Salvador Quintanilla, Senior Planner City of Fontana December 12, 2022 Page 2 CDFW is also submitting comments as a Responsible Agency under CEQA. (Pub. Resources Code, § 21069; CEQA Guidelines, § 15381.) CDFW expects that it may need to exercise regulatory authority as provided by the Fish and Game Code. As proposed, for example, the Project may be subject to CDFW’s lake and streambed alteration regulatory authority. (Fish & G. Code, § 1600 et seq.) Likewise, to the extent implementation of the Project as proposed may result in “take” as defined by State law of any species protected under the California Endangered Species Act (CESA) (Fish & G. Code, § 2050 et seq.), the Project proponent may seek related take authorization as provided by the Fish and Game Code. PROJECT DESCRIPTION SUMMARY The proposed Project includes 29.8-acres and Assessor Parcel Numbers (APNs): 0255- 011-13, -14, -15, -18, -19, -25, -26, -27, -28, -29, -30, -31, and -32, and 0255-021-17, - 18, -22, -23, and -24. This site is located north of Santa Ana Avenue, and south of Jurupa Hills High School, between Citrus Avenue and Oleander Avenue, and at the northeast corner of the Santa Ana Avenue and Oleander Avenue intersection. The Citrus & Oleander Avenue at Santa Ana Avenue Project entails the proposed development of approximately 24.4-acres of a 29.4-acre Project Site with three commerce center buildings. A General Plan Amendment (GPA), Zone Change Application (ZCA), and Specific Plan Amendment are proposed for the entire 29.4-acre Project Site. The GPA would revise the General Plan designation of the 24.4-acres to be developed from Residential Planned Community (R-PC) and Multiple-Family Medium/High Residential (R-MFMH) to General Industrial (I-L). For the 5.0-acre parcel that will not be developed, the GPA would revise the General Plan designation from Multi-Family Medium/High Residential (R-MFMH) to General Industrial (I-L) and the ZCA would change the zoning designation from MultiFamily Medium/High Residential (R-4) to Southwest Industrial Park (SWIP) Specific Plan, Slover East Industrial District. The SPA would amend the SWIP Specific Plan Land Use Plan to expand the SWIP boundary to include the Project Site. The three commerce center buildings are designated as “Building 1,” “Building 2,” and “Building 3” for reference purposes. Building 1 is proposed at the northeast corner of the intersection of Citrus Avenue and Santa Ana Avenue and would contain 151,618 s.f. of floor area including 141,618 s.f. of commerce center space and up to 10,000 s.f. of supporting office space. COMMENTS AND RECOMMENDATIONS CDFW offers the comments and recommendations below to assist the City of Fontana in adequately identifying and/or mitigating the Project’s significant, or potentially significant, direct, and indirect impacts on fish and wildlife (biological) resources. Salvador Quintanilla, Senior Planner City of Fontana December 12, 2022 Page 3 CDFW recognizes that the general plan EIR need not be as detailed as CEQA documents prepared for specific projects that may follow (CEQA Guidelines § 15146). CDFW also recognizes that the level of detail should be reflective of the level contained in the plan or plan element being considered (Rio Vista Farm Bureau Center v. County of Solano (1992) 5 Cal.App.4th 351). However, please note that the City of Fontana cannot defer the analysis of significant effects of the general plan to later-tiered CEQA documents (Stanislaus Natural Heritage Project v. County of Stanislaus (1996) 48 Cal.App.4th 182). CDFW recommends that the forthcoming DEIR address the following: Assessment of Biological Resources Section 15125(c) of the CEQA Guidelines states that knowledge of the regional setting of a project is critical to the assessment of environmental impacts and that special emphasis should be placed on environmental resources that are rare or unique to the region. To enable CDFW staff to adequately review and comment on the project, the DEIR should include a complete assessment of the flora and fauna within and adjacent to the Project footprint, with particular emphasis on identifying rare, threatened, endangered, and other sensitive species and their associated habitats. The CDFW recommends that the DEIR specifically include: 1. An assessment of the various habitat types located within the project footprint, and a map that identifies the location of each habitat type. CDFW recommends that floristic, alliance- and/or association based mapping and assessment be completed following The Manual of California Vegetation, second edition (Sawyer et al. 2009). Adjoining habitat areas should also be included in this assessment where site activities could lead to direct or indirect impacts offsite. Habitat mapping at the alliance level will help establish baseline vegetation conditions. 2. A general biological inventory of the fish, amphibian, reptile, bird, and mammal species that are present or have the potential to be present within each habitat type onsite and within adjacent areas that could be affected by the project. CDFW’s California Natural Diversity Database (CNDDB) in Sacramento should be contacted at (916) 322-2493 or CNDDB@wildlife.ca.gov to obtain current information on any previously reported sensitive species and habitat, including Significant Natural Areas identified under Chapter 12 of the Fish and Game Code, in the vicinity of the proposed Project. Please note that CDFW’s CNDDB is not exhaustive in terms of the data it houses, nor is it an absence database. CDFW recommends that it be used as a starting point in gathering information about the potential presence of species within the general area of the project site. Salvador Quintanilla, Senior Planner City of Fontana December 12, 2022 Page 4 3. A complete, recent inventory of rare, threatened, endangered, and other sensitive species located within the Project footprint and within offsite areas with the potential to be affected, including California Species of Special Concern (CSSC) and California Fully Protected Species (Fish and Game Code § 3511). Species to be addressed should include all those which meet the CEQA definition (CEQA Guidelines § 15380). The inventory should address seasonal variations in use of the Project area and should not be limited to resident species. Focused species-specific, completed by a qualified biologist and conducted at the appropriate time of year and time of day when the sensitive species are active or otherwise identifiable, are required. Acceptable species-specific survey procedures should be developed in consultation with CDFW and the U.S. Fish and Wildlife Service, where necessary. Note that CDFW generally considers biological field assessments for wildlife to be valid for a one-year period, and assessments for rare plants may be considered valid for a period of up to three years. Some aspects of the proposed Project may warrant periodic updated surveys for certain sensitive taxa, particularly if the Project is proposed to occur over a protracted time frame, or in phases, or if surveys are completed during periods of drought. Burrowing Owl (Athene cunicularia) The Project site has the potential to provide suitable foraging and/or nesting habitat for burrowing owl. Take of individual burrowing owls and their nests is defined by Fish and Game Code section 86, and prohibited by sections 3503, 3503.5 and 3513. Take is defined in Fish and Game Code section 86 as “hunt, pursue, catch, capture or kill, or attempt to hunt, pursue, catch, capture or kill.” CDFW recommends that the City of Fontana follow the recommendations and guidelines provided in the Staff Report on Burrowing Owl Mitigation (Department of Fish and Game, March 2012); available for download from CDFW’s website: https://www.wildlife.ca.gov/conservation/survey-protocols. The Staff Report on Burrowing Owl Mitigation, specifies three steps for project impact evaluations: a. A habitat assessment; b. Surveys; and c. An impact assessment As stated in the Staff Report on Burrowing Owl Mitigation, the three progressive steps are effective in evaluating whether a project will result in impacts to burrowing owls, and the information gained from the steps will inform any subsequent avoidance, minimization, and mitigation measures. Habitat assessments are conducted to evaluate the likelihood that a site supports burrowing owl. Burrowing owl surveys provide information needed to determine the potential effects of proposed projects and activities on burrowing owls, and to avoid take in accordance Salvador Quintanilla, Senior Planner City of Fontana December 12, 2022 Page 5 with Fish and Game Code sections 86, 3503, and 3503.5. Impact assessments evaluate the extent to which burrowing owls and their habitat may be impacted, directly or indirectly, on and within a reasonable distance of a proposed CEQA project activity or non-CEQA project. Within the 2012 Staff Report, the minimum habitat replacement recommendation was purposely excluded as it was shown to serve as a default, replacing any site- specific analysis and discounting the wide variation in natal area, home range, foraging area, and other factors influencing burrowing owls and burrowing owl population persistence in a particular area. It hypothesized that mitigation for permanent impacts to nesting, occupied, and satellite burrows and burrowing owl habitat should be on, adjacent or proximate to the impact site where possible and where habitat is sufficient to support burrowing owls present. If mitigation occurs offsite, it should include (a) permanent conservation of similar vegetation communities (grassland, scrublands, desert, urban, and agriculture) to provide for burrowing owl nesting, foraging, wintering, and dispersal (i.e., during breeding and non-breeding seasons) comparable to or better than that of the impact area, and (b) be sufficiently large acreage with the presence of fossorial mammals. Furthermore, the report noted that suitable mitigation lands should be based on a comparison of the habitat attributes of the impacted and conserved lands, including but not limited to: type and structure of habitat being impacted or conserved; density of burrowing owls in impacted and conserved habitat; and significance of impacted or conserved habitat to the species range-wide. 4. A thorough, recent, floristic-based assessment of special status plants and natural communities, following CDFW’s Protocols for Surveying and Evaluating Impacts to Special Status Native Plant Populations and Natural Communities (see https://www.wildlife.ca.gov/Conservation/Plants). 5. Information on the regional setting that is critical to an assessment of environmental impacts, with special emphasis on resources that are rare or unique to the region (CEQA Guidelines § 15125[c]). 6. A full accounting of all open space and mitigation/conservation lands within and adjacent to the Project. Analysis of Direct, Indirect, and Cumulative Impacts to Biological Resources The DEIR should provide a thorough discussion of the direct, indirect, and cumulative impacts expected to adversely affect biological resources as a result of the Project (including the plan’s land use designations, policies and programs). To ensure that Project impacts to biological resources are fully analyzed, the following information should be included in the DEIR: Salvador Quintanilla, Senior Planner City of Fontana December 12, 2022 Page 6 1. A discussion of potential impacts from lighting, noise, human activity (e.g., recreation), defensible space, and wildlife-human interactions created by zoning of development projects or other project activities adjacent to natural areas, exotic and/or invasive species, and drainage. The latter subject should address Project- related changes on drainage patterns and water quality within, upstream, and downstream of the Project site, including: volume, velocity, and frequency of existing and post-Project surface flows; polluted runoff; soil erosion and/or sedimentation in streams and water bodies; and post-Project fate of runoff from the Project site. With respect to defensible space: please ensure that the DEIR fully describes and identifies the location, acreage, and composition of defensible space within the proposed Project footprint. Please ensure that any graphics and descriptions of defensible space associated with this project comply with San Bernardino County Fire Department (or other applicable agency) regulations/requirements. The City of Fontana, through their planning processes, should be ensuring that defensible space is provided and accounted for within proposed development areas, and not transferred to adjacent open space or conservations lands. 2. A discussion of potential indirect Project impacts on biological resources, including resources in areas adjacent to the project footprint, such as nearby public lands (e.g. National Forests, State Parks, etc.), open space, adjacent natural habitats, riparian ecosystems, wildlife corridors, and any designated and/or proposed reserve or mitigation lands (e.g., preserved lands associated with a Natural Community Conservation Plan, or other conserved lands). 3. An evaluation of impacts to adjacent open space lands from both the construction of the Project and any long-term operational and maintenance needs. 4. A cumulative effects analysis developed as described under CEQA Guidelines section 15130. The DEIR should analyze the cumulative effects of the plan’s land use designations, policies and programs on the environment. Please include all potential direct and indirect Project related impacts to riparian areas, wetlands, vernal pools, alluvial fan habitats, wildlife corridors or wildlife movement areas, aquatic habitats, sensitive species and other sensitive habitats, open lands, open space, and adjacent natural habitats in the cumulative effects analysis. General and specific plans, as well as past, present, and anticipated future projects, should be analyzed relative to their impacts on similar plant communities and wildlife habitats. Alternatives Analysis CDFW recommends the DEIR describe and analyze a range of reasonable alternatives to the Project that are potentially feasible, would “feasibly attain most of the basic Salvador Quintanilla, Senior Planner City of Fontana December 12, 2022 Page 7 objectives of the Project,” and would avoid or substantially lessen any of the Project’s significant effects (CEQA Guidelines § 15126.6[a]). The alternatives analysis should also evaluate a “no project” alternative (CEQA Guidelines § 15126.6[e]). Mitigation Measures for Project Impacts to Biological Resources The DEIR should identify mitigation measures and alternatives that are appropriate and adequate to avoid or minimize potential impacts, to the extent feasible. The City of Fontana should assess all direct, indirect, and cumulative impacts that are expected to occur as a result of the implementation of the Project and its long-term operation and maintenance. When proposing measures to avoid, minimize, or mitigate impacts, CDFW recommends consideration of the following: 1. Fully Protected Species: Fully protected species may not be taken or possessed at any time. Project activities described in the DEIR should be designed to completely avoid any fully protected species that have the potential to be present within or adjacent to the Project area. CDFW also recommends that the DEIR fully analyze potential adverse impacts to fully protected species due to habitat modification, loss of foraging habitat, and/or interruption of migratory and breeding behaviors. CDFW recommends that the Lead Agency include in the analysis how appropriate avoidance, minimization, and mitigation measures will reduce indirect impacts to fully protected species. 2. Sensitive Plant Communities: CDFW considers sensitive plant communities to be imperiled habitats having both local and regional significance. Plant communities, alliances, and associations with a statewide ranking of S-1, S-2, S-3, and S-4 should be considered sensitive and declining at the local and regional level. These ranks can be obtained by querying the CNDDB and are included in The Manual of California Vegetation (Sawyer et al. 2009). The DEIR should include measures to fully avoid and otherwise protect sensitive plant communities from project-related direct and indirect impacts. 3. California Species of Special Concern (CSSC): CSSC status applies to animals generally not listed under the federal Endangered Species Act or the CESA, but which nonetheless are declining at a rate that could result in listing, or historically occurred in low numbers and known threats to their persistence currently exist. CSSCs should be considered during the environmental review process. CSSCs should be considered during the environmental review process. CSSC that have the potential or have been documented to occur within or adjacent to the project area, including, but not limited to: burrowing owl, coastal California gnatcatcher, coast horned lizard, Los Angeles pocket mouse, northwestern San Diego pocket mouse, northern harrier, yellow warbler, and yellow-breasted chat Salvador Quintanilla, Senior Planner City of Fontana December 12, 2022 Page 8 4. Mitigation: CDFW considers adverse project-related impacts to sensitive species and habitats to be significant to both local and regional ecosystems, and the DEIR should include mitigation measures for adverse project-related impacts to these resources. Mitigation measures should emphasize avoidance and reduction of project impacts. For unavoidable impacts, onsite habitat restoration and/or enhancement, and preservation should be evaluated and discussed in detail. Where habitat preservation is not available onsite, offsite land acquisition, management, and preservation should be evaluated and discussed in detail. The DEIR should include measures to perpetually protect the targeted habitat values within mitigation areas from direct and indirect adverse impacts in order to meet mitigation objectives to offset project-induced qualitative and quantitative losses of biological values. Specific issues that should be addressed include restrictions on access, proposed land dedications, long-term monitoring and management programs, control of illegal dumping, water pollution, increased human intrusion, etc. If sensitive species and/or their habitat may be impacted from the Project, CDFW recommends the inclusion of specific mitigation in the DEIR. CEQA Guidelines section 15126.4, subdivision (a)(1)(8) states that formulation of feasible mitigation measures should not be deferred until some future date. The Court of Appeal in San Joaquin Raptor Rescue Center v. County of Merced (2007) 149 Cal.App.4th 645 struck down mitigation measures which required formulating management plans developed in consultation with State and Federal wildlife agencies after Project approval. Courts have also repeatedly not supported conclusions that impacts are mitigable when essential studies, and therefore impact assessments, are incomplete (Sundstrom v. County of Mendocino (1988) 202 Cal. App. 3d. 296; Gentry v. City of Murrieta (1995) 36 Cal. App. 4th 1359; Endangered Habitat League, Inc. v. County of Orange (2005) 131 Cal. App. 4th 777). CDFW recommends that the DEIR specify mitigation that is roughly proportional to the level of impacts, in accordance with the provisions of CEQA (CEQA Guidelines, §§ 15126.4(a)(4)(B), 15064, 15065, and 16355). The mitigation should provide long- term conservation value for the suite of species and habitat being impacted by the Project. Furthermore, in order for mitigation measures to be effective, they need to be specific, enforceable, and feasible actions that will improve environmental conditions. 5. Habitat Revegetation/Restoration Plans: Plans for restoration and revegetation should be prepared by persons with expertise in southern California ecosystems and native plant restoration techniques. Plans should identify the assumptions used to develop the proposed restoration strategy. Each plan should include, at a minimum: (a) the location of restoration sites and assessment of appropriate reference sites; (b) the plant species to be used, sources of local propagules, container sizes, and Salvador Quintanilla, Senior Planner City of Fontana December 12, 2022 Page 9 seeding rates; (c) a schematic depicting the mitigation area; (d) a local seed and cuttings and planting schedule; (e) a description of the irrigation methodology; (f) measures to control exotic vegetation on site; (g) specific success criteria; (h) a detailed monitoring program; (i) contingency measures should the success criteria not be met; and (j) identification of the party responsible for meeting the success criteria and providing for conservation of the mitigation site in perpetuity. Monitoring of restoration areas should extend across a sufficient time frame to ensure that the new habitat is established, self-sustaining, and capable of surviving drought. CDFW recommends that local onsite propagules from the Project area and nearby vicinity be collected and used for restoration purposes. Onsite seed collection should be initiated in the near future in order to accumulate sufficient propagule material for subsequent use in future years. Onsite vegetation mapping at the alliance and/or association level should be used to develop appropriate restoration goals and local plant palettes. Reference areas should be identified to help guide restoration efforts. Specific restoration plans should be developed for various project components as appropriate. Restoration objectives should include protecting special habitat elements or re- creating them in areas affected by the Project; examples could include retention of woody material, logs, snags, rocks, and brush piles. 6. Nesting Birds and Migratory Bird Treaty Act: Please note that it is the Project proponent’s responsibility to comply with all applicable laws related to nesting birds and birds of prey. Fish and Game Code sections 3503, 3503.5, and 3513 afford protective measures as follows: Fish and Game Code section 3503 makes it unlawful to take, possess, or needlessly destroy the nest or eggs of any bird, except as otherwise provided by Fish and Game Code or any regulation made pursuant thereto. Fish and Game Code section 3503.5 makes it unlawful to take, possess, or destroy any birds in the orders Falconiformes or Strigiformes (birds-of-prey) to take, possess, or destroy the nest or eggs of any such bird except as otherwise provided by Fish and Game Code or any regulation adopted pursuant thereto. Fish and Game Code section 3513 makes it unlawful to take or possess any migratory nongame bird except as provided by the rules and regulations adopted by the Secretary of the Interior under provisions of the Migratory Bird Treaty Act of 1918, as amended (16 U.S.C. § 703 et seq.). CDFW recommends that the DEIR include the results of avian surveys, as well as specific avoidance and minimization measures to ensure that impacts to nesting birds do not occur. Project-specific avoidance and minimization measures may include, but not be limited to: project phasing and timing, monitoring of project- related noise (where applicable), sound walls, and buffers, where appropriate. The DEIR should also include specific avoidance and minimization measures that will be Salvador Quintanilla, Senior Planner City of Fontana December 12, 2022 Page 10 implemented should a nest be located within the project site. If pre-construction surveys are proposed in the DEIR, the CDFW recommends that they be required no more than three (3) days prior to vegetation clearing or ground disturbance activities, as instances of nesting could be missed if surveys are conducted sooner. 7. Moving out of Harm’s Way: To avoid direct mortality, CDFW recommends that the lead agency condition the DEIR to require that a CDFW-approved qualified biologist be retained to be onsite prior to and during all ground- and habitat-disturbing activities to move out of harm’s way special status species or other wildlife of low or limited mobility that would otherwise be injured or killed from project-related activities. Movement of wildlife out of harm’s way should be limited to only those individuals that would otherwise by injured or killed, and individuals should be moved only as far a necessary to ensure their safety (i.e., CDFW does not recommend relocation to other areas). Furthermore, it should be noted that the temporary relocation of onsite wildlife does not constitute effective mitigation for the purposes of offsetting project impacts associated with habitat loss. 8. Translocation of Species: CDFW generally does not support the use of relocation, salvage, and/or transplantation as mitigation for impacts to rare, threatened, or endangered species as studies have shown that these efforts are experimental in nature and largely unsuccessful. ADDITIONAL COMMENTS AND RECOMMENDATIONS To ameliorate the water demands of this Project, CDFW recommends incorporation of water-wise concepts in project landscape design plans. In particular, CDFW recommends xeriscaping with locally native California species, and installing water- efficient and targeted irrigation systems (such as drip irrigation). Local water agencies/districts, and resource conservation districts in your area may be able to provide information on plant nurseries that carry locally native species, and some facilities display drought-tolerant locally native species demonstration gardens (for example the Riverside-Corona Resource Conservation District in Riverside). Information on drought-tolerant landscaping and water-efficient irrigation systems is available on California’s Save our Water website: http://saveourwater.com/what-you-can- do/tips/landscaping/ ENVIRONMENTAL DATA CEQA requires that information developed in environmental impact reports and negative declarations be incorporated into a database which may be used to make subsequent or supplemental environmental determinations. (Pub. Resources Code, § 21003, subd. (e).) Accordingly, please report any special status species and natural communities detected during Project surveys to the California Natural Diversity Database (CNDDB). Information can be submitted online or via completion of the Salvador Quintanilla, Senior Planner City of Fontana December 12, 2022 Page 11 CNDDB field survey form at the following link: https://wildlife.ca.gov/Data/CNDDB/Submitting-Data. The completed form can be mailed electronically to CNDDB at the following email address: CNDDB@wildlife.ca.gov. The types of information reported to CNDDB can be found at the following link: https://wildlife.ca.gov/Data/CNDDB/Plants-and-Animals. FILING FEES The Project, as proposed, would have an impact on fish and/or wildlife, and assessment of filing fees is necessary. Fees are payable upon filing of the Notice of Determination by the Lead Agency and serve to help defray the cost of environmental review by CDFW. Payment of the fee is required in order for the underlying project approval to be operative, vested, and final. (Cal. Code Regs, tit. 14, § 753.5; Fish & G. Code, § 711.4; Pub. Resources Code, § 21089.). CONCLUSION CDFW appreciates the opportunity to comment on the NOP of a DEIR for the Project (SCH No. 2022110389) and recommends that the City of Fontana address the CDFW’s comments and concerns in the forthcoming DEIR. If you should have any questions pertaining to the comments provided in this letter, please contact June Leanos, Fish and Wildlife Scientific Aid at June.Leanos@wildlife.ca.gov. Sincerely, Kim Freeburn Environmental Program Manager ec: June Leanos, Scientific Aid Inland Deserts Region June.Leanos@wildlife.ca.gov Office of Planning and Research, State Clearinghouse, Sacramento state.clearinghouse@opr.ca.gov REFERENCES Sawyer, J. O., T. Keeler-Wolf, and J. M. Evens. 2009. A manual of California Vegetation, 2nd ed. California Native Plant Society Press, Sacramento, California. http://vegetation.cnps.org/ From:Salvador Quintanilla To:Tracy Zinn; Kristen Goddard Subject:FW: Citrus & Oleander Avenue at Santa Ana Avenue Date:Tuesday, December 6, 2022 2:41:24 PM Just FYI from Socalgas. Salvador Quintanilla Senior Planner • Planning City of Fontana • 8353 Sierra Avenue • Fontana, CA 92335 squintanilla@fontana.org • Office: (909) 350-6656 This email contains material that is CONFIDENTIAL and/or PRIVILEGED and for the sole use of the intended recipient. Any review, distribution or forwarding without express permission is prohibited. If you are not the intended recipient, please contact the sender and delete all copies. Thank you This email has been scanned for viruses and malware, and may have been automatically archived. From: Liao, William <WLiao@socalgas.com> Sent: Tuesday, December 6, 2022 10:59 AM To: Salvador Quintanilla <squintanilla@fontana.org> Cc: Castellanos, David <DCastellanos@socalgas.com> Subject: Citrus & Oleander Avenue at Santa Ana Avenue CAUTION - EXTERNAL SENDER - THIS EMAIL ORIGINATED OUTSIDE OF THE CITY'S EMAIL SYSTEM Do not click links or open attachments unless you recognize the sender and know the content is safe. Good morning, Salvador. I just got the package for Citrus & Oleander at Santa Ana. We have facilities along Citrus, Santa Ana, and Oleander, plus multiple services within the project site. Please make sure to contact 811/Dig Alert prior to any excavations, and contact our New Business section to start an application if you have gas service needs for the future development, at https://www.socalgas.com/for-your-business/builder-services Please let me know if you have any questions. Will LiaoRegion Planning SupervisorRedlands HQ / Southeast RegionDesk: 213-244-4543Mobile: 562-889-1981