HomeMy WebLinkAboutEIR 93-02; Green Valley; Environmental Impact Report (EIR) (29)-1
P.O. BOX 2736. LEUCADIA, CALIFORNIA 92024
January 17, 1994
Planning Commission
City of Carl sbad
1200 Csbd. Village Dr.
Carlsbad, CA 92008
RE; CARLSBAD PARTNERSIGREEN VALLEY DRAFT EIR
Dear Commissioners:
Thank you for this opportunity to comment.
The Friends oppose any impacts to the natural resources on this
property. We appreciate the planning which is centered on the
disturbed and previously farmed portion of the property. We are
also pleased to see that the vegetated portions of the property
will be left intact.
However, even this careful planning does not address all impacts
sufficiently. r
Bridging Encinitas Creek will adversely impact the riparian area.
Encinitas Creek is historical Bells Vireo habitat. What are the
rules for protection of Bells Vireo habitat?
What is the City doing to assure that these protections are
carried out?
What area of buffer is needed to assure the continued use by
Bells Vireo in this habitat?
We support the recommendation of the Draft EIR that the extension
of Leucadia Boulevard be the access ta this development and that
the Levante crossing be eliminated. We also would like to see
the density of this project be further reduced so that the
crossing at Calle Barcelona could be eliminated. What density of
development would be allowed if the Leucadia connection were the
only access to this property?
BUFFER ZONE
What is the justification for the 50 foot buffer? Since this
creek is easily accessible to human and ferral animals, a wider
buffer should be set aside.
r
The purpose of the buffer is to protect the wild area from
intrusion. Birds and animals require a space separation from
human contact. The more narrow the riparian area, the wider the
buffer should be. Allowing a trail sustem INSIDE the 50 foot
buffer reduces the buffer to less than 50 feet. When a trail
sys,tem is allowed INSIDE a buffer zone, that space cannot be
called a buffer. What is the Resource Agency prosition
concerning this problem?
We ask the decision makers to require the trail system to be
OUTSIDE the buffer zone. Will you require the trail system to be
OUTSIDE the buffer zone?
FIRE CONTROL ZONES
Too often, construction in allowed so close to natural areas that
it is necessary to depopulate or thin out natural areas in order
to protect buildings. The bluffs in this area are populated by
Southern Maritime Chaparral which is not replaceable and which
does not recover when soil is disturbed. Where exactly will it
be necessary to disturb the cliff vegetation for reasons of fire
prevention? We would like specific maps or photos and overlays.
The information in the DEIR is inadequate in this aspect. Fire
prevention intrusion into natural areas is dealt with in general
terms of degree and height of slope. Disturbance of native
vegetation is not quantified, and locales are not specified.
Will you please add this information to the DEIR?
r
GNATCATCHERS
We have specific information concerning gnatcatcher sites that is
not specified in the DEIR. We would like to see a site map with
gnatcatcher sightings marked. Will you provide this information?
Gnatcatchers fly low, and auto traffic is hazardous to them.
What provisions are being made to assure that these birds can
disperse to the lagoon? Across the property to Encinitas Creek?
East along the creek to inland areas?
Do gnatcatchers use or inhabit any of the portions of native
plants that wiil need to be adapted for fire control reasons?
If so, where? And how can these portions be set aside?
COMMERCIAL LIGHTING
24 hour lighting on this property is not acceptable. Will it be
possible to impose a lights-out time period for parking lot and
commercial 1 ighting?
IMPACTS BY CHILDREN AND PETS
These bluffs may be steep, but nothing is too steep for
determined children and pets. Because the vegetation, Southern
Maritime Chaparral, is so rare and will not grow except in hard
sandstone, and because pet's and children's feet will soften the
soil so that it will no longer support Southern Maritime
Chaparral, we ask
that no pets be allowed in the proposed apartments,
that education concerning the chaparral be presented to the
occupants of the housing at least yearly,
that the bluffs be thoroughly and completely set off limits,
and that a security guard be hired in perpetuity to protect these
bluffs from intrusion.
Will you comply with the above requests?
What assurance do we have that the bluffs will be protected?
,/-
DESILTATION/DEPOLLUTANT BASINS
Will these basins be large enough to protect the lagoon during
the 100 year floods?
BLUFF EDGE:
According to the maps in the DEIR, the edges of the existing
bluffs will be graded. This is not acceptable. What is the
quantity of intrusion that is being allowed into the bluffs and
existing vegetation?
Since southern Maritime Chaparral cannot be mitigated,
revegetating the upper canyons cannot be used to allow intrusion
into the bluff. Are we reading the maps correctly that
destruction of Southern Maritime Chaparral is being allowed?
If not, esactly what plants are included in those posrtions that
will be graded, and what is their biomass?
c
REVEGETATION PLANT SURVIVAL RATE
The Deir states the plant survival rate must be at 80% at 2
years. Is this the end of the monitoring?
What about at the end of 5 years? 10 years? When does the
proponent’s obligation cease? Who is obliged to oversee the
protection of native vegetation after 2 years? Who will oversee
the success of non-success and replanting of the revegetated
areas through time?
MONITORING BIOLOGIST
Who is the monitoring biologist?
To whom is this biologist responsible? Who will pay his/her
salary? Who will read hislher report?
What will be monitored by the monitoring biologist besides pest
control?
What constitutes a pest?
Raptors nest and feed around Batiquitos Lagoon. Ground squirrels
and rabbits a.re choice morsels for raptors. Gnatcatchers feed on
insects. Would these be considered pests to a monitoring
biologist? If so, why?
-
What would a gopher or ground squirrel have to do to be
considered a pest by a monitoring biologist?
Under what circumstances would a monitoring biologist be allowed
to kill insects?
Who monitors the monitoring biologist?
REGIONAL IMPACTS
The intersection of Olivenhain Road and El Camino Real will fail
whether this project is built or not. Encinitas Creek is
designated a wildlife corridor by the MHCP, but no plans are
being made to assure its continued use by wildlife. La Costs
Boulevard is being widened with no wildlife crossings being
planned. Southern Maritime Chaparral on the bluffs will be
destroyed and the bluffs breached by the Leucadia connection.
Under all this pressure, regional planning is impotent if not
collusive. We announce the failure of Governor Pete Wilson’s
Natural Communities Conservation Plan to provide guidance or help
in this area. We denounce the collection of development plans
that are being pushed forward without regard for the natural
resources of this area.
We ask what Carlsbad intends to do, if anything? to coordinate
development with other jurisdictions that will reduce impacts to
this area, the bluffs, the creek, the lagoon, and the wildlife?
What will Carlsbad do to assure that Encinitas Creek becomes a
wildlife corridor as recommended by the HMP and the MHCP?
Very truly yours, I
Dolores Welty
Conservation Chair