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HomeMy WebLinkAboutMCUP 06-05; T-Mobile USA Westbluff Plaza; Conditional Use Permit (CUP) (5)CITY OF CARLSBAD LAND USE REVIEW APPLICATION 1) APPLICATIONS APPLIED FOR: (CHECKBOXES) / Administrative Permit Administrative Variance Coastal Development Permit Conditional Use Permit Condominium Permit Environmental Impact Assessment General Plan Amendment Hillside Development Permit Local Coastal Program Amendment Master Plan Non-Residential Planned Development Planned Development Permit (FOR DEPARTMENT USE ONLY) I _ | | _ I I _ | Planned Industrial Permit Planning Commission Determination Precise Development Plan Redevelopment Permit Site Development Plan Special Use Permit Specific Plan Tontativo Parcel Map Obtain from Engineering Department Tentative Tract Map Variance Zone Change List other applications not specified (FOR DEPARTMENT USE ONLY) 2) 3) 4) ASSESSOR PARCEL NO(S).: 215-052-75 PROJECT NAME:T-Mobile USA, Inc. - Westbluff Plaza BRIEF DESCRIPTION OF PROJECT: Renewal of existing CUP 00-20/SUP 00-06 5) OWNER NAME (Print or Type) Alpaca Properties, LLC MAILING ADDRESS 4660 La Jolla Village Dr. #200 CITY AND STATE ZIP TELEPHONE San Diego, C A 92122 EMAIL ADDRESS: 1 CERTIFY THAT 1 AM "pHfi LEGAL OWNER AND THAT ALL THE ABOVE INFORMATIpM^Ts^teOlE/ AND CORRECT TO THE BEST OF MY KNOWLEDGE. f\H./' " ' / V*~^ SIGNATURE DATE 6) APPLICANT NAME (Print or Type) T-Mobile USA, Inc. MAILING ADDRESS 10180 Telesis Court, Suite 333 CITY AND STATE ZIP TELEPHONE San Diego, CA 92121 (858)717-7908 EMAIL ADDRESS: 1 CERTIFY THAT 1 AM THE LEGAL REPRESENTATIVE OF THE OWNER AND THAT ALL THE ABOVE INFORMATION IS TRUE AND CORRECT TO THE BEST OF MY KNOWLEDGE. T\lkAj^ (jLwjUihJ , (tt-d\fa(A ^"/0"0(^ SIGNATURE S DATE 7) BRIEF LEGAL DESCRIPTION A portjon Of Parcel 2 of PM No. 9043, in the City of Carlsbad, filed in the Office of the County Recorder of San Diego County, August 14, 1979, as file 79-304715 of official records. NOTE: A PROPOSED PROJECT REQUIRING MULTIPLE APPLICATIONS BE FILED, MUST BE SUBMITTED PRIOR TO 3:30 P.M. A PROPOSED PROJECT REQUIRING ONLY ONE APPLICATION BE FILED, MUST BE SUBMITTED PRIOR TO 4:00 P.M. Form 14 Rev. 12/04 PAGE 1 OF 5 8) LOCATION OF PROJECT:6986 El Camino Real STREET ADDRESS ON THE BETWEEN East (NORTH, SOUTH, EAST, WEST) Alga (NAME OF STREET) SIDE OF AND El Camino Real (NAME OF STREET) Dove Lane 9) LOCAL FACILITIES MANAGEMENT ZONE 10) PROPOSED NUMBER OF LOTS 13) TYPE OF SUBDIVISION 16) PERCENTAGE OF PROPOSED PROJECT IN OPEN SPACE 19) GROSS SITE ACREAGE 22) EXISTING ZONING n/a n/a C1Q 11) NUMBER OF EXISTING RESIDENTIAL UNITS 14) PROPOSED IND OFFICE/ SQUARE FOOTAGE 17) PROPOSED INCREASE INADT 20) EXISTING GENERAL PLAN 23) PROPOSED ZONING (NAME OF STREET) 12) PROPOSED NUMBER OF RESIDENTIAL UNITS 15) PROPOSED COMM SQUARE FOOTAGE 18) PROPOSED SEWER USAGE IN EDU 21) PROPOSED GENERAL PLAN DESIGNATION 24) HABITAT IMPACTS IF YES, ASSIGN HMP# n/a n/a n/a 25) IN THE PROCESS OF REVIEWING THIS APPLICATION IT MAY BE NECESSARY FOR MEMBERS OF CITY STAFF, PLANNING COMMISSIONERS, DESIGN REVIEW BOARD MEMBERS OR CITY COUNCIL MEMBERS TO INSPEQTCNb ENTER THE PROPERTY THAT IS THE SUBJECT OF THIS APPLICATION. I/WE CONSENT IS PURPOSE SIG>tATURE FOR CITY USE ONLY FEE COMPUTATION APPLICATION TYPE TOTAL FEE REQUIRED FEE REQUIRED Y OF CARLSBAD RECEIVED BY: Form 14 Rev. 12/04 PAGE 2 OF 5 City of Carlsbad Planning Department DISCLOSURE STATEMENT Applicant's statement or disclosure of certain ownership interests on all applications which will require discretionary action on the part of the City Council or any appointed Board, Commission or Committee. The following information MUST be disclosed at the time of application submittal. Your project cannot be reviewed until this information is completed. Please print. Note: Person is defined as "Any individual, firm, co-partnership, joint venture, association, social club, fraternal organization, corporation, estate, trust, receiver, syndicate, in this and any other county, city and county, city municipality, district or other political subdivision or any other group or combination acting as a unit." Agents may sign this document; however, the legal name and entity of the applicant and property owner must be provided below. 1 . 2. APPLICANT (Not the applicant's agent) Provide the COMPLETE. LEGAL names and addresses of ALL persons having a financial interest in the application. If the applicant includes a corporation or partnership, include the names, title, addresses of all individuals owning more than 10% of the shares. IF NO INDIVIDUALS OWN MORE THAN 10% OF THE SHARES, PLEASE INDICATE NON-APPLICABLE (N/A) IN THE SPACE BELOW. If a publicly-owned corporation, include the names, titles, and addresses of the corporate officers. (A separate page may be attached if necessary.) Corp/Part 'fifVldhitL U5fl, Title Person. Title_ AddressM./!Address OWNER (Not the owner's agent Provide the COMPLETE, LEGAL names and addresses of ALL persons having any ownership interest in the property involved. Also, provide the nature of the legal ownership (i.e, partnership, tenants in common, non-profit, corporation, etc.). If the ownership includes a corporation or partnership, include the names, title, addresses of all individuals owning more than 10% of the shares. IF NO INDIVIDUALS OWN MORE THAN 10% OF THE SHARES, PLEASE INDICATE NON-APPLICABLE (N/A) IN THE SPACE BELOW. If a publicly-owned corporation, include the names, titles, and addresses of the corporate officers. (A separate page may be attached if necessary.) Person, Title Corp/Part Mfff-Ct, Title Address Address Hie (e6' DlZan J CA 1635 Faraday Avenue • Carlsbad, CA 92008-7314 • (760) 602-4600 • FAX (760) 602-8559 • www.ci.carlsbad.ca.us 3.NON-PROFIT ORGANIZATION OR TRUST If any person identified pursuant to (1) or (2) above is a nonprofit organization or a trust, list the names and addresses of ANY person serving as an officer or director of the non-profit organization or as trustee or beneficiary of the. Non Profit/Trust Title Non Profit/Trust Title Address Address 4. Have you had more than $250 worth of business transacted with any member of City staff, Boards, Commissions, Committees and/or Council within the past twelve (12) months? Yes No If yes, please indicate person(s):_ NOTE: Attach additional sheets if necessary. I certif above information is true and correct to the best of my knowledge Sigrcat^'of owner/date Signature of applicant/date Print or type name of owner Print or type name of applicant (UL* Signature of owner/applicant's agerit if applicable/date Print or type name of owner/applicant's agent H:ADMIN\COUNTER\DISCLOSURE STATEMENT 5/98 Page 2 of 2 City of Carlsbad Planning Department HAZARDOUS WASTE AND SUBSTANCES STATEMENT Consultation Of Lists of Sites Related To Hazardous Wastes (Certification of Compliance with Government Code Section 65962.5) Pursuant to State of California Government Code Section 65962.5, I have consulted the Hazardous Wastes and Substances Sites List compiled by the California Environmental Protection Agency and hereby certify that (check one): The development project and any alternatives proposed in this application are not contained on the lists compiled pursuant to Section 65962.5 of the State Government Code. The development project and any alternatives proposed in this application are contained on the lists compiled pursuant to Section 65962.5 of the State Government Code. APPLICANT Name: Address: Phone Number:- "7 / 1 - Address of Site:Bl C^ Local Agency (City and County): Assessor's book, page, and parcel number: Specify list(s): Regulatory Identification Number: Date of List: ft PROPERTY OWNER Name: MC& Address: Phone Number: 6 Applicant Signature/Date Admin/Counter/HazWaste Property Owner Signature/Date 1635 Faraday Avenue • Carlsbad, CA 92008-7314 • (760) 602-4600 • FAX (760) 602-8559 • www.ci.carlsbad.ca.us *-L" " "1VAUU11"" Omnipoint Communications, Inc. A subsidiary of T-Mobile USA Inc. 10180 Telesis Court, Suite 333 San Diego, California 92121 5/25/2006 SD-Outdoor Cabinets RE: T-MOBILE WIRELESS FACILITIES- BATTERY MSDS INFORMATION FOR FIRE / HAZMAT DETERMINATION To Whom It May Concern: We are submitting the enclosed information in response to your request for Hazardous Material disclosure for the batteries used as a backup power supply. The proposed T-Mobile Wireless site utilizes Hawker Powersafe Batteries for outdoor applications. I have prepared a summary of the Hazardous Material quantities using the attached manufacturers MSDS and specifications. The battery configuration is also enclosed in an area of the cabinet within a tray. Typically we install two (2) batteries and provide space for two (2) additional should the facility require additional backup capacity. Each battery rack contains four (4) batteries total. Design Criteria: Battery Weight: 25 Ibs. Each (per Specifications) Percentage of Hazardous Materials: 90% weight volume (Lead/ Electrolyte per MSDS) Gallon to Pounds: 1 US gal. = 10.66 Ibs. Calculations: 25 Ibs. x 90% = 22.5 Ibs. 22.5 Ibs. /10.66 Ibs. = 2.11 gal. 4 batteries x 2.11 gal. = 8.44 gal. Hazardous Materials per equipment cabinet. The installation of four (4) cabinets with batteries equals 33.71 gallons of Hazardous Materials with the Building Permit in process. This should qualify us for an exemption due to the material quantity being less than 55 gallons total. If there are any questions or need of additional information, please contact me directly at 858-334-6121. Sincerely, Kevin C. Becker Development Supervisor San Diego Market Hazardous Materials Specification Sheet Hawker Battery Product information The S85 series utilizes unique and proven technology to provide a superior range of valve regulated batteries with an extended service life in compact and energy dense configurations. SBS Is manufactured to the highest International standards, and is suited for reliable use in GSM, PCS & CDMA outdoor communication cabinets. SBS Is also widely used in cable TV, emergency lighting, power generation, and offshore applications. The SBS front terminal range is the latest addition to the highly successful high energy density range from Hawker. Smaller than the competition it offers design flexibility where space is limited and will easily fit in cabinet and 19" and 23" rack configurations. SBS batteries are designed to operate in applications where raised temperatures or harsh environments are possible. The advanced plate technology and manu- facturing methods, used by Hawker, make SBS the choice for long and trouble- free service. By using an optional metal Jacket, the maximum operating temperature of SBS J can be extended to 80'C (176'F). ^HAWKER Range summary Hawker has earned an international reputation for quality and reliability based on more than 100 years experience in the manufacture of batteries, and is at the forefront of new product design to meet customers' increasing power requirements. 5B$ batteries are designed using proven gas recombination technology, which removes the need for regular water addition. The use of gas recombination technology for lead acid batteries has completely changed the concept of standby povver. This technology provides the user With the freedom to use lead acid batteries in a wide range of applications. The minimal level of gas production allows battery installation in cabinets or on stand;, in offices or near main equipment, thus maximizing space utilization and reducing battery accommodation and maintenance costs. Care must be taken to ensure that there is sufficient ventilation in accordance with national regulations. An Invensys company Construction: • Positive Electrode—Pure lead grid using a unique manufacturing process • Negative Electrode—Pure lead grid • Separator—Glass mat separator with high absorption and stability • Case Material—Impact resistant material, flame-retardant to UL94 B, VO (SBS case material is ABS; SBS J case material is Noryl) • Electrolyte—High purity dilute sulphuric acid absorbed into separator material • Terminal Design—Leak resistant Compression seal, proven in service • Charging—Float charge voltage: 2.27 vpc @ 2S«C (77"F) Specifications Installation: • The SBS series of batteries can be mounted in any orientation except inverted. • SBS was designed for use in cabinets or on stands close to the point of use. A separate battery room is not required. • SBS is also available for underwater applications. • SBS is ideal for installation a; an integral part of a standby system due to its long life. Features: * Extremely high power density • Proven long service • Very low ventilation requirement • 2V. 6V. and 12V configurations. • Many sizes available • Long shelf life. Standards: • Designed to meet the requirements of Telecordia SR-4228 and BS 6290 Pt 4. • Conforms to IEC 60896 Pt 1 and EN 60896 Pt 2. » UL approved. • Hawker production facilities worldwide are certified to ISO 9001. • Approved 35 non-hazardous cargo for ground, sea and air transportation. 130 132 198 (7.8)206 (8.1)237 (9.3)23.0 (50.7) 300 390 J13 J16 J30 J35 J40 J70 BS BIO B14 C11 1 2 12 12 12 T2 12 12 12 12 12 12 310 360 12 15 26 35 39 64 31 37 61 92 308 363 12 15 26 34 40 64 31 37 61 91 198 (7.8) 193 (7.8) 178 (7.0) 186 (7.3) 178 (7.0) 198 (7.9) 201 (7.9) 328 (12.9) 280(11.0) 280(11.0) 280(11.0) 395(15.6) 206(8,1) 206 (8.1) 87 (3.4) 79(3.1) 168(6.6) 166(6.5) 171 (6.7) 166(6.5) 97 (3,8) 97 (3.8) 97 (3.B) 10$ (4,1) 237 (9.3) 237 (9.3) 132 (5.2) 171 (6.7) U7 (5.0) 145 (5.7) 173(6.8) 175 (6.9) 150(5.9) 175 (6.9) 255(10.0) 255(10.0) 20,0 (44.1) 23.0 (50.7) 5.7 (12-6) 6.7(14,8) 11.8(26.0) 13.4(29.5) 17.4 (38.2) 28.8 (€3.4) 9.6 (21.2) 11.3(25-4) 19.0(41.9) 30,0 (66.1) Notes "' H63Q art fitted «Wi 3 21 Inch lumei: that terminates in 9 2-pln polarited pluj-in connector «hkh Is compatible vnlh imbedded povrer $|.C systems. All fights reserved, subject to copyright. Subject to revisions without prior notice. \invensys An Invcnsys company Hawktr 21 130 Cabot BWd. HayvrtHd. CA 94545-WO Phone: 510-7BO-1 600 Fax: 510-780-1 603 www.hawlitr'.ini/cnsys.com 73 Devon Road Unit 22. Brampton Ontario 16TSB4 Phone: 905-790-0730 Fax: 905-790-0744 118 Mallard Lane Nflr* Haven. CT 06473 Phone: 203-7T7-0037 F3X! 203-773-1010 vww.havuker.i'wensys.com L\W HAWKER ENERGY] INFORMATION ONLY - Please read Section X SECTION I • Product and Manufacturer Identity Product Identity: Sealed Lead Battery Cyclon®, Genesis®, Manufacturer's Name and Addwft Hawker Energy Products Inc. 6] 7 North Ridgeview Drive Warrensburc. MO 64093.9301 Revision Date: June 29, 2001 SBS, SBS J or Hawker XT™ Emergency Telephone NumDer: (660) «29-Zl65 Customer Service Telephone Number: 800.964-2837 SECTION II - Ingredients Hazardous Components Lead Lead Dioxide Sulfurtc Acid Electrolyte Non'Haznrdous Materials CAS » 05HA PEl.TWA % (By welthl) 7439-92-1 SOU«/m3 45 1309-60.0 5QUa/ma is 7664-93-9 1.0 m«/ma IS N/A N/A 5- 60% 25% 20% 10% SECTION 111 - Physical/Chemical Characteristics Boiling Paint • N/A Vapor Pressure (mm Hg.) - N/A Solubility in Wstv - N/A Specllic Gravity (H20=l) , NA Meltlnj Point • N/A Appflaranct & Color • N/A SECTION IV - Fire & Explosion Hazard Data Flash Point (Memod Used): N/A Flammable Limits: N/A LEL: N/A UfH.: N/A Extinguishing Modla: Multipurpose Dry chemical. C02 or water sprey. Special Fire Fighting Pre«dures; Cool Bauery exterior to prevent rupture. Acid mists and vapors in a fire are toxic and corrosive. Unusual Ftrft and Explosion Kazards: Hydrogen gas may be produced and may explode it iffnited Remove alt 5 ourcec of Ignition SECTION V- Reactivity Data J Conditions to Avoid: Avoid storting.Avoid overchsrolng. Uafi ohly flppfoved chanrlna methods Do t\e>t change in g9s tight contslners ~|] SECTION VI - Health Hazard Data Routes of EriUy; N/A fimffreency & First Aid Froeedurts: Health Hazards (Acutofc Chronic): N/A Battery contains add electrolyte which ii absorbed in the separator material. If battery tasc is punctured, cofnolfltelv Hush any rftltfased matcnul from skin or evss wiih w6t&r Steps to be lanen In case material is released or spilled: Waste Pisposal Meihod: SECTION VII • Precautions for Safe Handling & Use Avoid contdci with acid materials. Use soda ash or lime to neutralize. Flush with water. Dispose of in accordance with Federal. SOIG, & Local Regulations. Do not incinerate. Batteries should be shipped 10 a reclamation facility lor recovery of the metal pnd plastic components as tne proper method of waste management. Contact distributor for SDDrODrl&tB orodfuct return orocadurBfi SECTION VIII • Control Measures - Not Applicable Page 1 of Z SECTION IX • Transportation Hawker Energy Products Inc. batteries ara starved electrolyse batteries whicn mean: the electrolyte is absorbed in the separator material. The batteries are also sealed. As of September 30. 1995, Hawker Energy Products Inc. batteries were clE-sslfied as 'nonaplllable batteries', and si such are no I subject to the lull retirements of 49 CFR § 173.159. The previous exempt classification, 'Dry Batteries, Not Restricted' was discontinued effective September 30. 1995, TMonscillable' batteries are exccpted from the regulation's comprehensive packaging requirements if the following condition; are wtistud; II) The battery Is protected against short circuits and is securely packaged. (2) For batteries manufactured after September 30, 1995, the battery and outer packaging must be plainly and durably marked 'NONSPILLABLE' or 'NONSFILLABLE BATTERY' and (3) The battery is capable of withstanding vibration and pressure differential tests specked In 49 CFR 5 173.1S9(d). Hawker Energy Product: Inc. batteries have been rested by WTLE Scientific Services & Systems Laboratories Group and determined to De In compliance with the vibration and pressure differential tests contained in 49 CFR j 173.159(0), and therefore as of September 30, 199$, «xcepted from the DOT requirements set forth in *9 CFR § ) 73.159. other than paragraph Co). Battery shipments from Hawker Energy Product: Inc. WarrensDurg location, will be properly labeled in accordance with applicable DOT regulations. Packaging changes performed at other locations may require additional labeling, since in addition to the battery ItnIf containing the required marking, Ma outer packaging of the baiiery mud alto contain the required mirklrig: 'NONSPILLAHLE' OR •NONSPILLABLE BATTERY". Because the Da tier lea are classified as 'Nonspillable' and meat th» three conditions above, [from 5 173.159(d)] they do not have an assigned UN number nor do they require additional DOT hazard labeling, The regulation change tlfectwe September. 1995, was to cl»n(y and distinguish. 10 sniccarj and transporters, an batteries that have been tested and determined to be In compliance with the DOT Hazardous Material Regulations, (he International Civil Aeronautics Organization (ICAO), and the International Air Transport Association (IATA) Packing Instruction 806 8nd Special Provision A67, and therefore excepted from all other requirements of the regulations and classified as a 'nonipillable battery. SECTION X -Additional Information The Hawker sealed load acid battery Is determined to be an 'article' according to the OSKA Hazard Communication Standard and is thereby excluded from any requirements o< the standard. The Material Safety Data Sheet is therefore supplied for Informational purposes only. Th6 information and recommendations contained herein have been compiled from sources believed to be reliable and represent current opinion on the subject. No warranty, guarantee, or representation Is made by Hawker Energy Products Inc., as to the absolute correctness or sufficiency of any representation contained herein and Hawker Energy Products Inc. assumes no responsibility in connection therewith, nor can It be assumed that all acceptable safely measures are contained herein, or that additional measures may not be required under particular or exceptional conditions or circumstances, N/A or Nat Applicable - Net tpplleable (or finished product used in normal conditions. Page 2 of 2 FILNOV. 15. 2001, 6:30PI\B!^IDJPBW REG f£TWORK SV ^I 6307(NO. 1598 P. 1- 2 M. iii -i Ml oi^iy U,i(;i :J!M.'| M.IV ho usixi is wmtfY van ,G. Oupnmm.-nl of Labai Mr a! id ArJmir||\|] •'• 2J CPD 1910.i'iOo. Sln/xJard musi be consulted lor spactfie Porml Form Anru0Y«</ j. 1210-0072 lorNnrv (At Usno & 1*1*1*1x1 uti) Swton I POWERSAFE STANDBY BATTERIES INC, Mains (Wumfttr. Stmet, Off. State, ind ZIP Coda)MALLARD LAHE, NORTH WAVEN.CT otu: . • n £nwrg«My Tdl40hQf>« NW<T«X<1 " '" 1 jl nflf «/)pfc«M)| IX <W f TAttpnOfM NUfll^O^ *Qt Iiu0(fl\iwn > (203) 777 0037 8/f/Tl •MMfMrwMAFito.1 Section ll — Hazardous («grfldi«\ia/ld»n% mionnitlQn "T1"1 Hva'OMi CoflwntMl (SpM'de ChaNMi MeoUv: CortVMn NofM<(|) OgHAPft. ACGIHTW Wlf'IrrtM} Mi footaxin; Lead, L««d Oxides "1, Acid Electrolyte, Dilute Sulfurie "]' Hor\-H« tardoue Materials ---^11 If 63 F 25 .0 ^S^iljjt . '. ' "Tiff "^V 111 • • • ~^l'' fiecllflft III — Phyftlcal/Chomlcal Chonctertatlc* N/AView PTMIW* (mm h«.) M/A VMM tHntty (AM > t| N'/ASotuWrty ki W»i«i N/A N/A Section IV — FUt >nd Explosion Hiz«(4 Data ""HITcSS^bU , f N/A 1 N/A £xlpar«Uon Rill ._. . '*" ' (BM»4 MfUlt « 1)N/A * ^V • • - • ~7l[r Fbnunifei* LxrtU "^El^l' UEL ' """" "Si "S *^ "^lll.'i"Kulti-pgrpOBC ADC Dry Chenical «r raul ti-purpo«e CO, Cool bat'tary to preyfttit tuptur^-Sulfurtc' add fume* , »ul tut 'dioxide stit ot c«rbgn monoxide may bo. rtlfl .1 Hydcon<i\ gac may be produced «nd of ignition. ed. W«tr HtOSH •ppcovQd iT ve clothing. P (UJ oonciined»•— ••" •• » • — • "• —y\f explodt if ignittd. Remqvi «ll lourofi* OSHA IN. Sopl. l»5 9 -d 15.2001y 6:30PMi5!42^1D:PBW REG NETWORK SV 6307NO. 1598 P, 3= V — Heaciivily D,t(a OUIiiiiiv imtfjDt SUdii X Comiuon: w AVOKI Avoi4 uliort circui Use only approved m^c\r~ e ini ch«v|jna tn« thorts 10 Avoid) H / A lor tint a h c d pro tl ij c I. 1 liutrtoui May OGRU/Paiymenulion w"N(ir<ba«i Cnrtdihonx (o <U«i^ ~~' Do not punccurc biitery X Section Vi — Healtl) HaM'd Data ' 71 BOUitfl) o* Entry' InhaUlnin? < Stan? "TJ( M6«Uli H«»rds f^futo «^rf C"-W«Hoi applicable lot fvnU)ud product used i'n normal cot^ - -71 T |i«o|r... .... -, fr 1 r7 ? • — ~~ — — •'— iion.r|r. _ IARC SiflM »nrf Synwftiu dl Me&cii Condiuoni by wo nnAki Prooaauias ' . """ contains acid e^eccrolyto. If baccery case t c , S<cllonVH — precautions far Safe HindHftfl Intf Uac"5iep» lo "8i» lwn In CtM hUttttai h RvWuod i» SplM •" Prevent contjctuich acijLmater iaU . Use soda ash or lymju'tq neutralist t u rtd , flush with large amounu of F lir -*r~vich 3t«ee or local regulation!. PO ,NQ.T INCINERATE PnevAtt* 10 04 TihMtn Himmrj} «r*j siring "* „ See bitctry "OPERATIONS AUP MAINTENANCE" CXhor Prtou/faAS " " See battery "OPERATIONS ANp HAINTEKANCE" B' -nr "iir ection VIII - Control Measures Woc.requirtd undnr normal conditions . ,N/A N/A ««d^ Ob»it _U,»e iqid rgsiatant gloves N/A Oiw , . N/A ~»nr "«l«i» IW PtatCHuB Odhinq Cf £qUip^MAl • ' Long tUcvcd sliirt, lone panes, cloeod «tioos JrtWHMilinIc fitanti . ' ———— Safety B In ta t v j hp pt e*; life side W'» an'ON D06367 Westbluff Plaza 6994-B El Camino Real Carlsbad, CA 92009 Proposed skirts and low profile mounting hardware installed on existing antennas Photosimulation of proposed telecommunications site >06367 Westbluff Plaza 6994-B El Camino Real Carlsbad, CA 92009 • 9hotosimulation of proposed telecommunications site 06367 Westbluff Plaza 6994-B El Camino Real Carlsbad, CA 92009 T • -Mobile' T lB Hi',.I1 PROJECT DESCRIPTION & JUSTIFICATION PROPOSAL TO ESTABLISH AND OPERATE A NEW DIGITAL PCS COMMUNICATIONS FACILITY SD06367 Westbluff Plaza 6994-B El Camino Real Carlsbad, CA 92009 Prepared for: City of Carlsbad Department of Planning 1635 Faraday Avenue Carlsbad, CA 92008 Prepared by: PlanCom, Inc. Contractor Representatives for Cingular Wireless 302 State Place Escondido, CA 92029 (760) 807-1850 Contact: Ted Marioncelli, Planning Consultant May 17, 2006 Project Description (SD06367) Page 1 5/17/2006 El Q 0 Q PROJECT DESCRIPTION/HEIGHT JUSTIFICATION T-Mobile USA, Inc. (TMO) is requesting a renewal of Conditional Use Permit 00-20 and Special Use Permit 00-06 Westbluff Plaza PCS for the existing wireless facility consisting of a total of six (6) antennas arranged in three sectors: two sectors of two (2) antennas each facade mounted to the existing building, and one sector of two (2) antennas mounted inside a dormer structure on the existing roof. Photos of the existing facility are provided with the application for the city's review. The supporting equipment consists of two (2) self-contained Base Transceiver Station (BTS) outdoor equipment cabinets, one (1) electric meter panel, and one (1) telephone interface. Each of the BTS units contains the electronic equipment necessary to operate the facility. The outdoor equipment is located inside an 8-foot high, slump block equipment enclosure with an overhead wood trellis adjacent to two other equipment enclosures on the south side of the building. The specific location and design of the existing facility is illustrated in further detail on the site plan and elevation drawings. PROJECT JUSTIFICATION/WIRELESS SERVICES PROVIDED T-Mobile USA is a public utility, licensed and regulated by the Federal Communications Commission (FCC) and informally by the California Public Utilities Commission (CPUC), and authorized to develop and operate a new wireless, digital PCS network throughout California and parts of Nevada. TMO engineers responsible for the overall design and operation of the PCS network want to ensure that network coverage is available throughout the County of San Diego. The proposed site location is essential to meeting the network's current capacity and coverage needs in this area. At present, there is very little or no network coverage for T-Mobile to the roadways and homes located in this portion of the City of Carlsbad. The proposed facility is intended to address this need, and by design will interface with neighboring sites to provide high quality, consistent network operations to TMO customers. As a result of Cingular Wireless' nationwide purchase of AT&T Wireless Services, Cingular was required to sell all of its interest in Pacific Bell Wireless to T-Mobile USA effective January 5, 2005. Cingular Wireless sites permitted prior to January 5, 2005 are now under the sole control of T-Mobile USA, a wholly owned subsidiary of Deutsche Telekom. The proposed site allows the applicant to provide coverage along El Camino Real and the surrounding commercial and residential areas. T-Mobile USA intends to provide wireless voice, data, video and local area network (LAN) applications with the installation of this facility. Project Description (SD06367) Page 2 5/17/2006 SITE CHARACTERISTICS The underlying zoning of the proposed site is C1Q, Commercial - Qualified Development Overlay. The current on-site use is a commercial retail and office building. The proposed use is an unmanned wireless communication facility. The surrounding land uses are as follows: North: Commercial South: Commercial East: Residential West: Commercial COUNCIL POLICY 64 SECTION A. LOCATIONAL GUIDELINES 1. Preferred Locations—The project site is zoned C1Q, Commercial-Qualified Development Overlay, which is classified as a preferred location in the location guidelines adopted per Council Policy 64, Section A.l.b. According to the policy, WCFs are encouraged in commercial zones by the Wireless Communication Facilities (WCF) guidelines. The existing design conceals one sector of antennas within a dormer on the rooftop and the other antennas are fagade mounted and painted to match the background color of the building. 2. Discouraged Locations-the subject site is an existing wireless facility and the request is for the extension of the permit to allow continuous use of the facility. The surrounding properties in the area of the proposed site are predominantly commercial and are considered preferred locations for WCFs. Since the site was an existing facility and commercial zones are preferred locations for WCFs, and there are additional carriers collocated on the site, consideration for alternate sites was limited to the existing project. 3. Visibility to the Public-*he current design conceals the antennas within a rooftop dormer with additional antennas painted to match the background color of the building. The design limits the visibility of the antennas to the surrounding properties. 4. Collocation—a letter expressing cooperation with future co-location efforts for this site is included with this application. Presently, Verizon, Sprint and Nextel have facilities on the subject property. Cingular Wireless has a site currently under construction. 5. Monopo/es—tir\\s section is not applicable to the application. B. DESIGN GUIDELINES Project Description (SD06367) Page 3 5/17/2006 D a a a 1. Stealth Design—four (4) of the existing six (6) antennas are fagade mounted to the building and painted to match the background surfaces. The other two (2) antennas are enclosed within an existing dormer on the roof. 2. Equipment—the two (2) BTS equipment cabinets are screened inside an 8-foot high CMU block equipment enclosure with an overhead trellis, and adjacent to the Sprint and Nextel equipment enclosures with the same design located at the south elevation of the building. 3. Collocation—Sprint, Nextel, Verizon, and Cingular Wireless have facilities on site. 4. Height-the existing antennas do not exceed the height of the existing building. 5. Setbacks—the C-l zone has no specific setback requirements except as determined by the Qualified Development Overlay Zone. The existing site and associated equipment are located toward the center of the property and are not affected by the setback requirements. 6. Building or Structure Mounted WCFs—#\e fagade-mounted antennas do not project more than the allowable 18 inches from the face of the building; other antennas are concealed within rooftop dormers. 7. Groundmountedmonopoles—tt\\s section is not applicable to the application. 8. Lattice Towers—not applicable. 9. Undergrounding—Q\\ utilities are under grounded. POLICY 64 C. PERFORMANCE GUIDELINES 1. NOISE/ACOUSTICAL INFORMATION T-Mobile USA installed Ericsson RBS2106 outdoor equipment cabinets on this project. The noise specifications for the RBS 2106 cabinets are provided with this submittal in a generic letter analysis. 2. OPERATION & MAINTENANCE The communications facility provides 24-hour service to its users seven (7) days a week. A TMO technician services the facility on an as-needed basis. Generally, this is likely to occur once per month during normal working hours (between 7 AM, SAM on Saturdays, and Sunset). A computer may handle much of the operational adjustments remotely. A TMO technician in a service van or pickup truck-size vehicle will perform the routine maintenance operation. Beyond this routine maintenance service, TMO typically requires 24-hour access to the facility to ensure that technical support is immediately available if and when warranted during an emergency. 3. MAINTENANCE HOURS Project Description (SD06367) Page 4 5/17/2006 Maintenance hours per Policy 64 will be followed. The site is within 100 feet of residential property and is subject to the restricted hours for maintenance (7AM, SAM on Saturdays, to sunset) unless an emergency occurs. 4. LIGHTING No additional lighting is proposed for the site. 5. COMPLIANCE WITH FCC RF EXPOSURE GUIDELINES All T-Mobile wireless sites are designed to comply with FCC RF exposure guidelines. A field measurement report is included with this application for reference in accordance with the policy guidelines. ADDITIONAL INFORMATION REGARDING THE APPLICATION HAZARDOUS MATERIALS Sealed lead acid batteries are used for back-up power in the event of a power failure on most Cingular Wireless facilities. The batteries are often referred to as "gel cell" type batteries. Specifications for the batteries are provided as an attachment to this application. OPERATIONAL FREQUENCY CRITERIA The FCC has allocated a portion of the radio spectrum to TMO for the provision of PCS. The proposed communications facility will transmit at a frequency range of 1950 MHz. The power required to operate the facility typically does not exceed 200 watts per channel. By design, the TMO facility is a low-power system. Depending upon characteristics of the site, the actual power requirements may be reduced. When operational, the transmitted signals from the site will consist of non-ionizing waves generated at less than one (1) microwatt per square centimeter, which is significantly lower than the Federal Communications Commission (FCC) standard for continuous public exposure of 900 microwatts per square centimeter. The proposed PCS communications facility will operate in full compliance with the standards for radio frequency emissions as adopted by the FCC. Project Description (SD06367) Page 5 5/17/2006 Omnipomt Communications, Inc. a subsidiary of T-Mobile USA Inc. 10180 Telesis Court, Suite 333 San Diego, California 92121 January 11, 2006 County of San Diego Department of Planning and Land Use 5201 Ruffin Road, Ste. B San Diego, CA 92123 T-Mobile Wireless Facility: As required by Section 6984 of the Ordinance Amending the San Diego County Zoning Ordinance Relating to Wireless Telecommunications Facilities, T-Mobile USA, Inc. is willing to allow other carriers to co-locate on their facilities wherever technically and economically feasible. All future carriers will comply with all planning, building, and zoning requirements of the County of San Diego. Respectfully, Kevin C. Becker Development Supervisor San Diego Market 858-334-6121/ofc X IVlUUllt; Omnipoint Communications, Inc. a subsidiary of T-Mobile USA Inc. 3 Imperial Promenade, 11lh FL Santa Ana, California 92707 May 25, 2005 To Whom it May Concern: Plancom, Inc. and its employees and agents are authorized representatives of Omnipoint Communications, Inc. (OCI) a subsidiary of T-Mobile, USA, Inc., and have been contracted to perform real estate leasing, land-use entitlements and architectural & engineering services for OCI telecommunication facilities. As an authorized representative of OCI, Plancom, Inc., may: sign, submit, review land-use applications and permits, represent at hearings, accept conditions of approval, and negotiate leases on OCI's behalf. All final documents are subject to OCI's review and approval. If there are any questions or comments, please contact me immediately. Sincerely yours, Bryce O. Walker OCI Area Senior Manager Real Estate & Construction (949)394-1088 T - -Mobile Jurinary 6. 2005 T'o VViu>ni It May Concern: Be advised lh»1 OH Jaiiuiiry 5, 2005. T-.Viobiie USA. Inc. and Circular WircJcss I.I C dosed on a transaction that unwound joim ownership of the GSM m,-i works in California, Nevada, and the New York BTA. This transaction is not an ussiv>:<.mei:t oi any erility or assets hut rather is a purchase of equity interews in what prior lo the transaction were jointly held entities. As a result oi" this transacrion. T-Mobiic USA, Inu.'s wholly-owned Eubsidiiir\r Omnipi.iint Communications, [no. llu'OUjih iLlv.>kh]ig company now holds a 10! 1% ownership intercsv in Pacific Bell Wireless, '1,'I.C. Pacific Belt Wireless.. LLC, soon to be renamed T-Mobile CA/\\', LLC, holds the network assas in Caliloi-nia und Nevada and is !hc oonir:n.:iing poily with a number o£' v-i-dors related to that operation. Pleuse chirmx1 vour rccrtrdr; to reflect this cluini-'.c. Our iKitice contacts and address arc as follov/s: T-Mob:lc USA, Inc:. Bolbviii.:. WA DS005 l-i-(425);-7S-4000 S-ntxrulv. ,/"/ '&«-- Miller PHOTO STUDY PROPOSAL TO ESTABLISH AND OPERATE A NEW DIGITAL PCS COMMUNICATIONS FACILITY SD06367 Westbluff Plaza 6994-B El Camino Real Carlsbad, CA 92009 Prepared for: City of Carlsbad Department of Planning 1635 Faraday Avenue Carlsbad, CA 92008 Prepared by: PlanCom, Inc. Contractor Representatives for Cingular Wireless 302 State Place Escondido, CA 92029 (760) 807-1850 Contact: Ted Marioncelli, Planning Consultant May 25, 2006 Project Description (SD06367) Page 1 5/25/2006 View of North and East elevation; view of concealed T-Mobile antennas inside dormer Northeast elevation and view of T-Mobile antennas and Sprint antennas View of South elevation, T-Mobile's equipment shelter, and Sprint's antennas View of Southeast elevation and Verizon and Sprint antennas View of South elevation and T-Mobile and Verizon antennas. Noise Specification Sheets Ericsson RBS2106 Outdoor Equipment Cabinets Jun. 20 2003 11:56 HP LflSERJET 3200 A p.2 EILAR ASSOCIATES ACOUSTICAL & ENVIRONMENTAL CONSULTING May 7,2003 PlanCom, Inc Project #A30504 Attention: Ted Marioncelli 302 State Place Escondido, California 92029 Phone 760-807-1850 Fax 760-735-4913 SUBJECT: NOISE PLANNING FOR CINGULAR WIRELESS TELECOMMUNICATIONS FACILITY ERICSSON RBS 2102/2106 FOUR-CABINET OPEN SYSTEM INSTALLATIONS At your request, this letter provides noise planning information for a Cingular cellular system utilizing four outdoor BTS RBS 2102/2106 cabinets. This report presents the analysis based on an "open plan," where the facility is surrounded by a chainlink fence and is located at the minimum installation distances specified in the report from any property line or onsite building. Noise and Sound Level Descriptors All noise level or sound level values presented herein are expressed in terms of decibels (dB), with A-weighting, abbreviated "dBA," to approximate the hearing sensitivity of humans. Time-averaged noise levels are expressed by the symbol LEQ, for a specified duration. Short duration peak noise levels are expressed by the symbol L^. The Community Noise Equivalent Level (CNEL) is a 24-hour average, where sound levels during evening hours of 7 p.m. to 10 p.m. have an added 5 dB weighting, and sound levels during nighttime hours of 10 p.m. to 7 a.m. have an added 10 dB weighting. This is similar to the Day-Night sound level, LDN, which is a 24-hour average with 10 dB added weighting on the same nighttime hours but no added weighting on the evening hours. Sound levels expressed in CNEL are always based on A-weighted decibels. These data unit metrics are used to express noise levels for both measurement and municipal noise ordinances and regulations, for land use guidelines, and enforcement of noise ordinances. Some of the data may also be presented as octave-band-filtered and/or -octave-band-filtered data, which are a series of sound spectra centered about each stated frequency, with hah0 of the bandwidth above and half below each stated frequency. This data is typically used for machinery noise analysis and barrier effectiveness calculations. (Further explanation can be provided upon request.) Noise emission data is often supplied per the industry standard format of Sound Power, which is the total acoustic power radiated from a given sound source as related to a reference power level. Sound Power should not be confused with Sound Pressure, which is the fluctuations in air pressure caused by the presence of sound waves, and is generally the format that describes noise levels as heard by the receiver. 321 North Willowspring Drive, Encinitas.CA 92024 • 760-753-1865 • Fax 760-753-0111 • info@eilarassociates.com Jun. 20 2003 11:56 HP LHSERJET 32OO A p.3 PlanCom, Inc.; Attention: Ted Marioncelli May 7,2003 Noise Planning for Cingular RBS 2102 / 2106 Four-Cabinet Telecommunications Facility Page 2 Applicable Noise Standards The applicable regulations for these projects are contained within the relevant community or County of San Diego municipal code (noise ordinances). These ordinances typically provide that the hourly average noise limit for any noise source impinging on a single-family residential zone is not to exceed 45 dBA between the hours of 10 p.m. to 7 a.m. (nighttime hours). However, some municipalities, including the City of San Diego, have a more restrictive nighttime noise limit of 40 dBA. Daytime noise limits are normally less restrictive, allowing 5 dBA higher noise levels during the hours of 7 a.m. to 10 p.m. Noise limits are also less restrictive in commercial and industrial land use zones. Potential Project-Related Noise Source(s) These installations propose to install four RBS 2102 / 2106 telecommunications cabinets (these are functionally similar units and nearly identical for noise emission and noise planning purposes), within planned equipment enclosures. The predominant noise sources from each equipment cabinet are the intake and exhaust louvers, located on the front side of each equipment cabinet. The equipment cabinets are expected to operate 24 hours per day, 7 days per week, 365 days per year. Similar Equipment Noise Emission Measurements To accurately assess the expected equipment noise levels from the proposed installation, noise levels of similar operational equipment cabinets were measured at 10:30 a.m. on October 17, 2002, at a Cingular wireless installation located at the "Strouds'1 store in Mission Valley, San Diego. The equipment cabinets were installed inside an enclosed second-floor room. Access to the equipment enclosure was via a ladder and hatch from an outside entrance. The 20-foot by 14-foot equipment room containing the operational cabinets had a 10-foot high ceiling. The room was highly reverberant, due to the plywood floor, three sheet-rocked walls and ceiling, and the fourth wall which appeared to have originally been a sprayed stucco exterior wall. Installed in the room were three RBS 2102 cabinets, all in operation. The equipment was situated in an "L" shape around two walls, with the ventilation louvers (noise sources) facing toward the center of the room. Outside noise sources were negligible. The similar equipment noise emission levels were measured with a Larson Davis Model 824, Type 1 Sound Level Meter, Serial #342 (with windscreen), and Larson Davis Model CA200, Type 1 Calibrator, Serial #2181. The sound level meter was field-calibrated immediately prior to the noise measurements and checked afterwards, to ensure accuracy. All sound level measurements conducted and presented in this report, in accordance with the regulations, were made with a sound level meter that conforms to the American National Standards Institute specifications for sound level meters (ANSI SI.4-1971). All instruments are maintained with National Bureau of Standards traceable calibration, per the manufacturers' standards. Eilar Associates • 321 North Willowspring Drive, Encinitas, CA 92024 • 760-753-1865 • Fax 760-753-0111 Jun. 20 2003 11:57 LflSERJET 3200 P.4 PlanCom, Inc.; Attention: Ted Marioncelli May 7, 2003 Noise Planning for Cingular RBS 2102 / 2106 Four-Cabinet Telecommunications Facility Page 3 The Larson Davis 824 sound level meter was mounted on a tripod in the approximate center of the room at a distance of approximately six feet from the two end (of the "L") cabinets and eight feet from the corner cabinet. The measured overall noise level for a one-minute measurement was 56.8 dBA. The octave data is summarized in Table 1; the full-octave data table is provided as Attachment 1. The Ericsson RBS 2106 data sheet is provided as Attachment 2. , , fr&>lfe i Noisft Measurement of^ee' Optional Cmgulai RBS 2102 / 2JOfr feaMhelsr " «,%.»' "V A ! , , • fatfiifcea <u'... ^p ' '-'-'V.-' Optave Frequency Banfl (Hz) Noise Level (dB) 63 63.3 125 61.4 250 60.9 500 55.7 IK 48.6 2K 40.8 4K 36.6 8K 34.6 Total kfiQ 56.8 dBA Due to the reverberant room effect on the noise measurements, the measured noise levels of the operational equipment provide a maximum worst-case noise emission level for the equipment cabinets. Thus, when these measurement data are utilized "as is,1' the resultant analysis will be conservative. Project-Related Equipment Noise Level The measured noise data for the three-cabinet installation has been multiplied by 4/3, to provide analysis for the future proposed Cingular four-cabinet installations. The calculated noise level of the proposed four-cabinet installations is 58.1 dBA LEQ, as shown in Table 2. Etlar Associates • 321 North WiUowspring Drive, Encinitas, CA 92024 • 760-753-1865 • Fax 760-753-0111 Jun. 20 2003 11:58 H^LRSERJET 3200 P.5 PlanCom, Inc.; Attention: Ted Marioncelii May 7,2003 Noise Planning for Cingular RBS 2102 / 2106 Four-Cabinet Telecommunications Facility Page 4 Distance Attenuation Attenuation due to distance is calculated by the equation SPLj = SPL2 - 20 * Log (D/D^ where: SPLi! = Calculated sound pressure level at distance SPL2 = Known sound pressure level at known distance Dj = Distance from source to known sound pressure level D2 = Distance from source to location of calculated sound pressure level This is identical to the more commonly used reference of 6 dB reduction for every doubling of distance. This equation does not take into account reduction in noise due to atmospheric absorption. Tables 3 and 4 present calculated distances for the target nighttime noise levels (40 and 45 dBA), for soft-surface and hard-surface environments. In a hard-surface environment (pavement or concrete surrounding surfaces), the noise level at any given location will be a maximum of 3 dBA higher than in a soft-surface environment, due to the reflectivity of the ground between the source and receiver. The noise level calculations in Table 3 account for this difference. Calculated Four-Cab' inei' Noise Level 58.1 dBA LB at six feet 46 dBA LEQ 27.1 feet 40 dBA L,4S.2 feet 58.1 dBA LEQ at six feet 45 dBA LEQ 40 dBA L'EQ_ 38.3 feet 68.1 feet 1 without sound attenuation wall2 minimum distance from closest cabinet to impacted receiver Eilar Associates • 321 North WUIowspring Drive, Encinitas, CA 92024 • 760-753-1865 • Fax 760-753-0111 Jun. 20 2003 11:58 Hj^LflSERJET 3200 PlanCom, Inc.; Attention: Ted Marioncelli May 7,2003 Noise Planning for Cingular RBS 2102 / 2106 Four-Cabinet Telecommunications Facility Page 5 Required Distances for 45 dBA Nighttime Property Line Noise Limit When the area around the proposed facility consists of soft surfaces, such as loose dirt or grass, the equipment must be placed at a distance greater than 27.1 feet from the nearest impacted location, to provide a noise level below 45 dBA LEQ. If the proposed facility is surrounded by hard surfaces, such as hard packed dirt, pavement, or concrete, the equipment must be placed at a distance greater than 38.3 feet from the nearest impacted location to provide a noise level below 45 dBA LEQ. Required Distances for 40 dBA Nighttime Property Line Noise Limit When the area around the proposed facility consists of soft surfaces, such as loose dirt or grass, the equipment must be placed at a distance greater than 48.2 feet from the nearest impacted location to provide a noise level below 40 dBA. If the proposed facility is surrounded by hard surfaces, such as hard packed dirt, pavement or concrete, the equipment must be placed at a distance greater than 68.1 feet from the nearest impacted location to provide a noise level below 40 dBA. On-Site Residences or Buildings The above described distance limitations must also pertain to on-site residences and other buildings, both to provide quality of life for residents and to prevent noise reflections (which would increase the required distances for property line noise limit compliance). Limitations This analysis is based on the noise emission for the fan side (front) of each cabinet, to present a worst-case analysis, since the fans are the loudest noise source. Accordingly, it is safe to assume that the orientation of a planned installation will not cause the projected noise level to be higher than calculated in this analysis. Since the measured noise levels of the other three sides of the cabinets will be lower, the minimum required distances from the remaining three sides may be somewhat less than indicated above. However, a separate analysis of the specific installation would be required to determine these distances, which may be useful in proposed locations with space limitations. The analysis and results presented in this report are based on the best data available for the Ericsson RBS 2102 / 2106 cabinets only, the results are not valid for other types of units or in conjunction with air conditioning equipment. There may be minor variations in noise emission from similar units. Eilar Associates • 321 North Willowspring Drive, Encinitas, CA 92024 • 760-753-1865 • Fax 760-753-0111 PlanCom, Inc.; Attention: Ted Marioncelli May 7, 2003 Noise Planning for Cingular RBS 2102 / 2106 Pour-Cabinet Telecommunications Facility Page 6 Other enclosure systems, besides the open chain link fence design (i.e., wooden fences or CMU walls), may be utilized with the same distances specified in this report. However, under no circumstances are other enclosure systems to be presumed to allow any reduction in the specified distances between the equipment and the property line or other sensitive receivers, without a site- specific acoustic analysis of the particular enclosure. Certification The findings and recommendations of this acoustical analysis are based on the information available and represent a true and factual analysis of the potential acoustical issues associated with proposed Cingular Wireless unmanned telecommunications facilities designed with Ericsson RBS 2102/2106 four-cabinet equipment systems. This report was prepared by Charles Terry and Douglas Eilar. EILAR ASSOCIATES Douglas K. Eilar, Principal Consultant in Acoustics, Investigator Attachments 1. One-Third Octave Data with 1-Octave Conversion Table of Operational Cingular Three-Cabinet 2. Ericsson RBS 2106 Data Sheet References Beranek, Leo L., Acoustical Measurements, Published for the Acoustical Society of America by the American Institute of Physics, Revised Edition, 1988. Harris, Cyril M., Handbook of Acoustical Measurements and Noise Control, Acoustical Society of America, 3rd Edition, 1998. Eilar Associates • 321 North WiUowspriug Drive, Encinitas, CA 92024 • 760-753-1865 • Fax 760-753-0111 Jun.p.8 RBS 2106 RBS 2106 Is a high capacity, outdoor macro base station supporting up to twelve transcsivafs per cabinet. It is possible to build ono, two and three sector configurations including dual band GSM 900/GSM 1800, In one cabinet. The RBS 2106 supports Enhanced Data rates for Global Evolution (EDGE) end Wideband Code Division Multiple Access (WCDMA) through plug-in units. The RBS 2106 is a member of the highly successful radio base station family RBS 2000. The RBS 2000 family sup- ports a wide range of applications ranging from extreme coverage to extreme capacity. Being a RBS 2000 member guarantees coexistence with the Installed base of RBS 200 and RBS 2000 products. Ericsson's synchronization based BSS features ensure that transceivers from different generations of radio base stations can easily form common cells. Operators can therefore bridge the past with the future. By making existing sites futureproof, investments are protected while migrating to 3G. ERICSSON Jun. 20 2003 12:01 LflSERJET 3200 p.9 Part of the grow-on-sjte concept Since It is becoming increasingly difficult to find new base station sites, it Is of great Interest to remain on existing sites as long as possible. Site space is often a limiting factor for capacity growth. The powerful RBS 2106, included in Ericsson's grow-on-site toolbox, addresses this problem. On many sites, two or more existing cabinets can be replaced by one RBS 2106, thereby solving the site space problem by making room for another cabinet. This Is of major importance, since It makes it possible to reuse and collocate GSM and WCDMA equipment. Furthermore, the plug-in WCDMA transceiver unit (W-TRU) can later be directly housed in the RBS 2106. Doubled capacity - superior performance - same footprint The 12-transceiver RBS 2106 cabinet has the same footprint as RBS 2102 but has doubled capacity, thanks to new double-capacity transceivers and combiners. The double transceiver unit (dTRU) has some power- ful features. The RBS 2106 has better output power than current RBS 2000 products, which are the best on the market today. The Improved radio performances mean Increased site-to-site distance, and therefore, fewer sites. Another example of a cost saving feature is 121 km Extended Range. The RBS 2106 comes with two new, extremely flexi- ble combiners. Examples of configurations for 900 and 1800 MHz, supported by the filter combiner (CDU-F), are 3x4, 2x6,1x12 and dual band 8+4 or 4+8 in one cabinet. CDU-F supports up to 12 transceivers. The other combiner (CDU-G) for 900,1800 and 1900 MHz can be configured In two modes: capacity mode and coverage mode, making it very flexible. In coverage mode, the output power from the CDU-G is increased, making It perfect for rural sites or when fast rollout Is required at a minimum cost. To build a 3x4 configuration, one RBS 2106 cabinet is equipped with three CDU-Gs. Prepared for the future The RBS 2000 family is prepared for GSM data services, including General Packet Radio Service (GPRS), High Speed Circuit Switched Data (HSCSD) and 14.4 kbit/s timeslots. To meet the operators' need for faster datacom solu- tions, RBS 2106 supports EDGE. A powerful Distribution Switch Unit (DXU) and fast Internal buses guarantee full EDGE support. This new DXU is also prepared for IP based Abls transmission. With the optional BSS feature RBS 2000 synchroniza- tion, it Is possible to have up to 32 transceivers In one cell. With the optional BSS feature RBS 200 and RBS 2000 In the same cell, it is possible to expand an exist- ing RBS 200 cell with RBS 2106, and thereby introduce EDGE and WCDMA through plug-In units. Key features • Six double transceiver units (dTRU), that is, 12 transceivers • Filter and hybrid combining one, two. or three sectors In one cabinet • Improved radio performance • Synthesized and baseband frequency hopping • Supports 12 transceiver EDGE on all timeslots • Supports 900, 1800 MHz and 1900 MHz • Extended Range 121 km • Duplexer and TMA support for all configurations • Four transmission ports supporting up to 8 Mblt/s • Optional built-in transmission equipment • Prepared for IP based Abis transmission • Prepared for GPS assisted positioning services • Internal and external battery back-up Technical specifications for RBS 2106 Frequency band: Tx: Rx: Number 01 transceivers: Number of sectors: Transmission Interface: Footprint (H x W x D): E-GSM 900, GSM 1800, GSM 1900 925-960, 1805-1880, 1930-1990 MHz 880-915, 1710-1785, 1850-1910 MHz 2-12 Dimension (H x W x D): Weight without batteries: 1.5 Mblt/s (T1), 2 Mbitfs (E1) 1614 x 1300 x 710 mm Including Installation frame (631/2 x 511/5 x 28 In.) 1614x1300x940 mm (631/2 x 511/5 x 37 in.) 550 kg (1211 Ibs.) Power into antenna feeder 33 W / 45.2 dBm (QSM 900) 25 W / 44.0 dBm (GSM 1800 / 1900) Receiver sensitivity: -110 dBm (without TMA) Power supply: 200-250V AC, 50 / 60 Hz Integrated battery back-up: Typical 1 hour (fully equipped) External battery back-up: Optional 2 hours Operating temperature: -33'C - +45°C (-27°F - +113°F) Weatherprooflng: Win level IP55 in IEC 329 Ericsson Radio Systems AB www.ericsson.com AE/LZT123 6493 © Ericsson Radio Systems AB 2001 JERROLD T. BUSHBERG Ph.D., DABMP, DABSNM ^HEALTH AND MEDICAL PHYSICS CONSULTING* 7784 Oak Bay Circle Sacramento, CA 95831-5800 (916) 393-6168 Darrell Daugherty May 4, 2006 PlanCom Inc. 302 State Place Escondido, California 92029-1362 Dear Mr. Daugherty: Introduction At your request, I have reviewed the technical specifications and measured the current cumulative maximum radiofrequency, (RF), power density from the T-Mobile(TM) wireless telecommunications facility (formerly Cingular Wireless facility) referenced as site number SD06367, located at and around the Westbluff Plaza at 6994-B El Camino Real, Carlsbad, California. Site measurements were made to included all ambient sources of RF exposures including the contribution from other wireless facilities. This information was used to determine compliance with Federal Communications Commission (FCC) requirements for RF public exposure safety. RF Exposure Measurement Methods The measurements at the subject property were made during normal business hours on March 30, 2006 utilizing a NARDA Industries model 871 8B broadband exposure meter with an associated frequency shaped B8742D probe. The probe and meter were recently calibrated by the manufacturer with standards traceable to the U.S. National Institute of Standards and Technology (MIST). The Narda meter/probe combination senses fields within the frequency range from 300 kHz to 3 GHz and indicates exposure as a percentage of the FCC public exposure standard. The dynamic range of the instrument is between 1 and 600% of the FCC public exposure standard. The data supplied by the manufacturer sets the frequency response of the probe as ± 1 dB and calibration accuracy and isotropicity as ± 0.5 dB and ± 1 dB respectively. The probe is isotropic, meaning that it can directly measure the strength of complicated fields independent of the orientation, polarization, or arrival angle. Measurements were made from ground level to head height (approx. 6 feet) above the ground at various locations surrounding the transmitter locations on the subject property as well as the surrounding area. The probe was swept over approximately ±3 feet to avoid destructive interference thus assuring the highest power density was being measured at a given location. A continuous observation of the power density allowed the location of the maximum power densities to be determined. RF Exposure Standards The two most widely recognized standards for protection against RF field exposure are those published by the American National Standards Institute (ANSI) C95.1 and the National Council on Radiation Protection and measurement (NCRP) report #86. The NCRP is a private, congressionally chartered institution with the charge to provide expert analysis of a variety of issues (especially health and safety recommendations) on radiations of all forms. The scientific analyses of the NCRP are held in high esteem in the scientific and regulatory community both nationally and internationally. In fact, the vast majority of the radiological health regulations currently in existence can trace their origin, in some way, to the recommendations of the NCRP. All RF exposure standards are frequency-specific, in recognition of the differential absorption of RF energy as a function of frequency. The most restrictive exposure levels in the standards are associated with those frequencies that are most readily absorbed in humans. Maximum absorption occurs at approximately 80 MHz in adults. The NCRP maximum allowable continuous occupational exposure at this frequency is 1,000 u.W/cm2. This compares to 5,000 |j.W/cm2 at the most restrictive of the PCS frequencies (-1,800 MHz) that are absorbed much less efficiently than exposures in the VHF TV band. The traditional NCRP philosophy of providing a higher standard of protection for members of the general population compared to occupationally exposed individuals, prompted a two-tiered safety standard by which levels of allowable exposure were substantially reduced for "uncontrolled " (e.g., public) and continuous exposures. This measure was taken to account for the fact that workers in an industrial environment are typically exposed no more than eight hours a day while members of the general population in proximity to a source of RF radiation may be exposed continuously. This additional protection factor also provides a greater margin of safety for children, the infirmed, aged, or others who might be more sensitive to RF exposure. After several years of evaluating the national and international scientific and biomedical literature, the members of the NCRP scientific committee selected 931 publications in the peer-reviewed scientific literature on which to base their recommendations. The current NCRP recommendations limit continuous public exposure at PCS frequencies to 1,000 |iW/cm2, and to 200 jiW/cm2 for the most restrictive frequencies (e.g., VHF TV band). The 1992 ANSI standard was developed by Scientific Coordinating Committee 28 (SCC 28) under the auspices of the Institute of Electrical and Electronic Engineers (IEEE). This standard, entitled "IEEE Standards for Safety Levels with Respect to Human Exposure to Radio Frequency Electromagnetic Fields, 3 kHz to 300 GHz" (IEEE C95.1-1991), was issued in April 1992 and subsequently adopted by ANSI. A revision of this standard (C95.1-2005) was completed in October 2005 by SCC 39- the IEEE International Committee on Electromagnetic Safety. Their recommendations are similar to the NCRP recommendation for the maximum permissible exposure (MPE) to the public at cellular and PCS frequencies (410 |aW/cm2 and 950 u.W/cm2 for continuous exposure at 820 MHz and 1,900 MHz respectively) and incorporates the convention of providing for a greater margin of safety for public as compared with occupational exposure. Higher whole body exposures are allowed for brief periods provided that no 30 minute time-weighted average exposure exceeds these aforementioned limits. On August 9, 1996, the Federal Communications Commission (FCC) established a RF exposure standard that is a hybrid of the current ANSI and NCRP standards. The maximum permissible exposure values used to assess environmental exposures are those oftheNCRP (i.e., maximum public continuous exposure at PCS frequencies of 1,000 [i W/cm2). The FCC issued these standards in order to address its responsibilities under the National Environmental Policy Act (NEPA) to consider whether its actions will "significantly affect the quality of the human environment." In as far as there was no other standard issued by a federal agency such as the Environmental Protection Agency (EPA), the FCC utilized their rulemaking procedure to consider which standards should be adopted. The FCC received thousands of pages of comments over a three-year review period from a variety of sources including the public, academia, federal health and safety agencies (e.g., EPA & FDA) and the telecommunications industry. The FCC gave special consideration to the recommendations by the federal health agencies because of their special responsibility for protecting the public health and safety. In fact, the maximum permissible exposure (MPE) values in the FCC standard are those recommended by EPA and FDA. The FCC standard incorporates various elements of the 1992 ANSI and NCRP standards which were chosen because they are widely accepted and technically supportable. The FCC standards "Guidelines for Evaluating the Environmental Effects of Radiofrequency Radiation" (Report and Order FCC 96-326) adopted the ANSI/IEEE definitions for controlled and uncontrolled environments. In order to use the higher exposure levels associated with a controlled environment, RF exposures must be occupationally related (e.g., PCS company RF technicians) and they must be aware of and have sufficient knowledge to control their exposure. All other environmental areas are considered uncontrolled (e.g., public) for which the stricter (i.e., lower) environmental exposure limits apply. All carriers were required to be in compliance with the new FCC RF exposure standards for new telecommunications facilities by October 15, 1997. These standards applied retroactively for existing telecommunications facilities on September 1, 2000. Cumulative RF Exposure Results The cumulative environmental RF power density measurement results, at all outdoor locations on and around the subject property, was less than 1.5 % of the most restrictive FCC public safety standards for continuous exposure). It is important to realize that the FCC maximum allowable public exposures are not set at a threshold between safety and known hazard but rather at 50 times below a level that the majority of the scientific community believes may pose a health risk to human populations. Thus the previously mentioned maximum cumulative exposure from the site represents a "safety margin" from this threshold of potentially adverse health effects of approximately 3,330 times. Conclusion PCS radio transmitters, by design and operation, are low-power devices. The maximum cumulative RF power density measured at and around this facility, was approximately 66 times lower than the FCC public exposure standard for these RF frequencies. Thus the TM wireless facility, as described above is full compliance with the FCC standards for public RF exposure safety. Given the low levels of radiofrequency field exposure and given the evidence on biological effects in a large data base, there is no scientific basis to conclude that harmful effects will attend the utilization of this telecommunication facility. This conclusion is supported by a large numbers of scientists that have participated in standard-setting activities in the United States who are overwhelmingly agreed that RF radiation exposure below the FCC exposure limits has no demonstrably harmful effects on humans. These findings are based on my professional evaluation of the scientific issues related to the health and safety of non-ionizing electromagnetic radiation, measurements of existing RF exposures, and my analysis of the technical specification as provided by T-Mobile. The opinions expressed herein are based on my professional judgement and are not intended to necessarily represent the views of the University of California. Please contact me if you require any additional information. Sincerely, Jerrold T. Bushberg Ph.D., DABMP, DABSNM Diplomate, American Board of Medical Physics (DABMP) Diplomate, American Board of Science in Nuclear Medicine (DABSNM) Enclosures: Statement of Experience. Statement of Experience Dr. Jerrold Bushberg is an expert in both health physics and medical physics. He is currently employed at the University of California at Davis as Director of Health Physics Programs which includes the campus, medical center and 16 offsite research field stations throughout California. The UCD Health Physics program is the second largest non-federal program in the state. In addition, he also holds an appointment as a Clinical Professor of Radiology, at the UC Davis School of Medicine with primary responsibility for medical postgraduate courses in medical physics, radiation (ionizing and non-ionizing) protection, and radiation biology. In addition, Dr. Bushberg has extensive experience and lectures on the science of Risk Assessment and on Effective Risk Communication in the public sector. Dr. Bushberg's doctoral dissertation at Purdue University was on various aspects of the biological effects of microwave radiation. He has maintained a strong professional interest in this subject and has served as consultant or appeared as an expert witness on this subject to a wide variety of organizations/ institutions including, local governments, school districts, city planning departments, telecommunications companies, the California Public Utilities Commission, ABC 20/20, and the U.S. Congress. In addition, his consultation services have included detailed computer based modeling of RF exposures as well as on-site safety inspections and RF field measurements of numerous wireless transmissions facility in order to determine their compliance with FCC safety regulations. Dr. Bushberg is a member of the main scientific body of International Committee on Electromagnetic Safety (ICES) which review s and evaluates the scientific literature on the biological effects of non-ionizing electromagnetic radiation and establishes exposure standards. He also serves on the ICES Risk Assessment Working Group that is responsible for evaluating and characterizing the risks of non-ionizing electromagnetic radiation. Dr. Bushberg was appointed and is serving as a member of the main scientific council of the National Council on Radiation Protection and Measurement's (NCRP) as well as it's scientific advisory committee on Radiation Protection in Medicine. The NCRP is the nation's preeminent scientific radiation protection organization, chartered by Congress to evaluate and provide expert consultation on a wide variety of radiological health issues. Dr. Bushberg was also appointed to the International Engineering in Medicine and Biology Society Committee on Man and Radiation (COMAR) which has as its primary area of interest the biological effects of non-ionizing electromagnetic energy, examining and interpreting the biological effects, and presenting its findings in an authoritative and professional manner. Dr. Bushberg is also a member of a six person U.S. expert delegation to the international scientific community on Scientific and Technical Issues for Mobile Communication Systems established by the Federal Communications Commission. Dr. Bushberg's position as Director of Health Physics Programs at UC Davis is particularly pertinent. The scientific discipline of Health Physics is devoted to radiation protection, which, among other things, involves providing analysis of radiation exposure conditions, biological effects research, regulations and standards as well as recommendations regarding the use and safety of ionizing and non-ionizing radiation. Dr. Bushberg is the senior scientist/health physicist at the University of California, Davis for which the evaluation of recent scientific literature and radiation safety standards is an integral part of his position. Dr. Bushberg received both a Masters of Science and Ph.D. from the Department of Bionucleonics at Purdue University. Dr. Bushberg is certified by several national professional boards with specific sub- specialty certification in radiation protection and medical physics. Prior to coming to the University of California, Davis, Dr. Bushberg was on the faculty of Yale University School of Medicine. T • -Mobile'- WEST BLUFF PLAZAr6994-B EL CAMINO REAL CARLSBAD, CA 92009 SD06367 k VICINITY MAP X1 / — 5Sa*i /^ \ \.S \^ *WOHT &/ :S ^\ ~ PWtSETTO UWE \ / * a J 11 THOMAS GUIDE PACE 11Z7, F5 ^^ts\ADDRESS: * HJ f*M-> EL CAMINO TOM. IS CARLSBAD, CA )ZOO> COORDINATES (NAD V) LONGITUDE: lir If' 00" WEST ACCESSIBILITY DISCLAIMER THIS PROJECT IS AN UNOCCUPIED WIRELESS PCSTELECOMMUNICATIONS FACIUTT AND, ACCORDtNC TO WRITTEN INTERPRETATION FROM THE CALIFORNIA DEPARTMENT OF THE STATEARCHITECT. IS EXEMPT FROM (XSAfUD ACCESS ttOWMWENTJ. CONSULTANT TEAM ARCHITECT: WUILU POOTH k ftOIEKT SUAREI ARCHITECTURE k FLAMMING P.O. POX 4UI CAKL3HD. CA II01I (7*0) 4I4-I4T4(r«o) U4-H» (TAX) ELECTRICAL CONSULTANT: KALUR D. CMP, EUCTRICAl INCWEEB, PE 1WO SHEEP UWCH LOOPCHULA VISTA, CA lilt] (lit) 1J*-1«1B PROJECT SUMMARY APPLICANT: T-MDBILE C*/NV. ucc 1(11 BO TELE3D COURT fJJi SAN DIEOO. CA IZ1Z1PHONE. (•») W*-t11» OWNER; ^wnmo!^!^ 110m HORIZON M1US DRIVEEL CUON. CA nvzo-ans SHI CONTACT: SARA SOLOMON DEVELOPMENT SUMMARY; EHWT1HS T-MOVU OUTDOOR EQUIPMENT CAIIHETS OH A CONCRETE PAD IKSTOE AN i'-D" HIGH SLUMP BLOCK ENCLOSURE WITH SIX ANTENNAS ARRANGED IN THREE SECTORS, TWO SECTORS OF TWO ANTENNAS EACH FACADE MOUNTED TO tXISTTMC lUILMMC WALLSAW CHE SECTOR OF TWO ANTENNAS MOUNTED INSIDE A DORMERSmiCTVItE OM THE EXISTING ROOF LEGAL DESCRIPTION: ALL THAT CERTAIN REAL PROPEKTT SITUATED IN THE COUNTY OfSAN DIEOO. STATE OF CALIFORNIA. DESCRItEO AS FOLLOW: PARCEL Z OF PAKCEL HAP W. I04J. W THE OFT DF CAHLSPW.COUNTT OF SAN DIECO. STATE OF CALIFORNIA. FILED IN THE OFFICEOF THE CDUNTT RECORD!* QT SAN dtOO COUNTT, WCVST 14, 1171 AS FILE NO. H-JW71S DF OFFICIAL RECORDS. NON-EXCLUSIVE EASEMENTS FOR PEDESTRIAN AND VEHICULAR IKCRCSS AND tCKESS, PMKMO. MAINTEMANCE AHU LANPSCAPMC AS CREATED IN THAT CERTATM DOCUMENT ENTITLED 'CHANT OF EASEMENTS AND AGREEMENT FOR MAINTENANCE OF PATKMC AREAS. DRTVCWATS AND LANDSCAPED AREA' DATED AVWJT 21, 1171 ANDRECORDED AUOUST 14, 1>7t A3 INSTRUMENT NO. I17>-M«D*I OF OFFICIAL RECORDS. PROJECT ADDRESS: **»4-i EL CAMMO REALCAKLSUD, CA »OD1 ASSESSORS PARCEL NUMBER; Zis-pvz-n EXISTING ZONING: c-1-q TOTAL SITE AREA: UMIIJ sr«,» ACKIS PROPOSED PROJECT AREA: t» SQ. FT- TYPE OF CONSTRUCTION; TYPE v, NON-RATEO (UNSPRINKLERED) PROPOSED OCCUPANCY: HOME CAIMETS ONLY) SHEET SCHEDULE -1 TITLE SHEET AND rROIECT DATA -0 SITE PLAN -1 HOOF PLAN -Z ITS IQUIFWNT PLAN -3 EXTEM9R ELEVATIONS -4 EXTtRnfl ELEVATIONS APPLICABLE CODES ALL WORK SMALL COWPLT WITH THE FOLLOWING APPUCAILE COUEJi CUJTOHWt STATE tUUnNC CODE, TITLE 14, ZQQ1 EDITION WHICH ADOPTS THE 1W UIC k THE lt»l NIC CAUFOKNIA PLUMIINC C9K. Z001 EBTTTON CAUFORNU MECHANICAL CODE. ZM1 (DTnON CALIFORNIA ELCCTWICAL TOOE. ZO04 tOTTION m THE EVENT OF CONFLICT. THE MOST RESTRICTIVE CODESHALL PREVAl PREPARED FOR •F • -Mobile'- 10)80 TtLESB COURT JU3SAN OlEDD, CALIFORNIA 92121 DATE OATE DATE OWNOt APPROVAL PROJECT NAME WEST BLUFF PLAZA PROJECT NUMBER SD06367 6994-B EL CAMINO SEAL CARLSBAD, CA 92000 SAN DIEGO COUNTY DRAWING DATES SHEET TITLE TITLE SHEET & PROJECT DATA T-1 DOVE LANE AN E4SWEXT FOR UWDERCaOUND UTILITIESWCHTS iwciorNTAL THERETO CRAWTEO TO TI REAL MUWICPAL WATER DISTRICT RECORDED . RECORDS. REFER TO EASE^EM '|4 D ' 'REPORT (SHOWN CASHED) h _ . _ . TEWMA5 AWD LWA UW1TS !«UWTED INStDE OOftrfE* STRUCTURE- SEE ROOF PLAW SHEET A-1 IS FACADE FWVVTEP TC- HD AUTEWKIAS. ANTENMAS, AWTENNA EXPOSED CABLf PAINTED TO i«TCH * SURFACES. 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ROCW AT GRADE LEVEL TH PREPARED FOR T • -Mobile'- PROJECT NAME WEST BLUFF PLAZA PROJECT NUMBER SD06367 6994-B EL O-.WWO Rttl CARLSBAD, Ci 92009 St.N DIEGO COUNTY DRAWING DATES SHEET TITLE SITE PLAN A-0 EXISTIHG T-rfOBILE ANTENHAS FACADE "OUNTtD TO EXISTIIIG BUILDING WALL WITH LNA UNITS hTOUIHTD II- ATTC W41TC BEHIWD AWTFNVAS AITTF.WNAS AWTENMA"OUNJS AUD AIL EXPOSED CABLE SHALL BE PAIIITED TO *ATCH EXISTING ADJACENT SPACES. SEE EXTERIOR ELE"ATION5 SHEET A-3 * A-i KEYED NOTES: <3> rosiw OT.usr 4^ EXISTING NEXTEL ANTENNAS INSIDE DORMER <S> EXISTING NEXTEL ANTENNAS FACADE MOUNTED /S-* EXISTING CONCRETE ROOF TILE <3> EXISTING VERIION AUTENNAS FACADE MOUNTED <j^ EXISTINC "ECHAUICAL *ELIS <^> EXISTING SPRUIT ANTENNAS INSIDE DDPMER <^. 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CA 92009 SiN DIEGO COUNTY DRAWING DATES ROOF PLAN OJtCTS \t-mobtli\06Mfed\OG A-1 h BTS EQUIPMENT PLAN KEYED NOTES: <l> E/ISTING (2) T-IKWIE BT3 EQUIPMENT CAHK03 ON AN^ tPICSSCN- BTS SUPPORT FTW«E SHOW* SHADED ^ F/ISTING GPS ANTENNA MOUNTED TO CASMEI ^ F.IST1NC O'-O- HIGH SLUriP BlOC" FQUIPMEMT ENCLOSURE ADJACENT EQUIPMENT ENCLOSURE. • EXISTING CONCRETE PAD ' LNSTING COAX CABLE SHROUD TELEPHONE SPLKE BOX .iOWIETJ OW UMIS • fxisnwc PLANTERS TO Rfi*Aiw (TYPICAL) ' EXISTING SLUHP BLOCK PLANTER HALL. EXISTING NEXTEL CONDENSER UNITS & TELEPHONE SEWCE COWDUTT AND I-UOWIE BTS EQUIPdEWT EMSTINC STUCCO "RAPPED COLUriW TO RF«A EXISTING LANDSCAPE PLANTER ARE* TH &. PREPARED FOR T • -Mobile'- PROJECT NtUE WEST BLUFF PLAZA PROJECT NUMBER SD06367 6994-B EL Ci.UIMO REtL CiRLSBiD. Ci 92009 StN DIEGO COUNTY DRAWING DATES BTS EQUIPMENT PLAN A-2 — DtlSPMC DOOR [ NC 51WU-HUNT WWTOW (TXPICALj -EXSTMC STUCCO FXQVCD COUMM (TTPICAlJ L NORTH ELEVATION PRWTJ5EO CWGUUW M4TENNILDC1TOH UWER OTM5TFVCTON nn | |nnn[ | nnrjpnn EKI5TWC STUCCO HMSHED COLUMNWEST ELEVATION PREPARED FOR •F • -Mobile'- SAN DIEGO. CAUFORNIA 1 CONSTRUCTION DATE OATE OATE sm ACQUISITION PROJECT NAME WEST BLUFF PLAZA PROJECT NUMBER SD06367 6994-3 £L CAUINO REAL CARLSBAD, CA 92008 SAN DIEGO COUNTY DRAWING DATES EXTERIOR ELEVATIONS A-3 EXSTMG T-UOBIZ AKTEWMS FACADE MOUNTED TOEXtSTWG BUUHNC HALL WC1H IN* WITS MOUNTED IN ATO SMCE BEHND AK1EMUS- CMCULAR WfdESS iFtCWE UOUNITD TO AN EXTD4SION Of EXISTINGFACADE. UNOER COHSTRUCTKW Car OTHER} SOUTH ELEVATION _ _ _ COMMUNKWION B CABINETS LOCATED KS1DE 3UIMP BLOCK E _ . WITH WOQO TBELUS. SEE SHEET A-Z FOR BTS EOUWIEKT aOOR P1AN . EXISTMC T-tJOBlE AHTENNkS FACADE MOUNTED TO EXISTMC BVUHMg WALL WITH IW UNITS HOUMED 1M ATTIC SP*CE 9EHMD ANTENWS. EAST ELEVATION . ... 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