HomeMy WebLinkAbout2003-01-22; Planning Commission; ; LCPA 02-10|EIR 97-01 ADDENDUM|DI 02-01 (HMP ADDENDUM #2) - HABITAT MANAGEMENT PLANw The City of Carlsbad Planning Department
P.C. AGENDA OF: January 22,2003
A REPORT TO THE PLANNING COMMISSION
Application complete date: NIA
Project Planner: Don Rideout
Project Engineer: NIA
Michael Holzmiller
SUBJECT: LCPA 02-1O/EIR 97-01 ADDENDUM /DI 02-01 (HMP ADDENDUM #2) -
HABITAT MANAGEMENT PLAN - Request for an amendment to the City’s
Local Coastal Program (LCP) by amending three LCP segments (Mello 11, Mello
I and Agua Hedionda) to add habitat conservation standards to remaining
undeveloped properties in the Coastal Zone, adding an addendum (#2) to the
City’s Draft Habitat Management Plan (HMP) to incorporate the additional
standards, adopting a Negative Declaration for the additional standards and
approving an Addendum to the previously certified Environmental Impact Report
(EIR 97-01) for the City’s Municipal Golf Course .
I. RECOMMENDATION
That the Planning Commission ADOPT Planning Commission Resolution No. 5360
RECOMMENDING ADOPTION of a Negative Declaration, and ADOPT Planning
Commission Resolutions No. 5361 and 5362 RECOMMENDING APPROVAL of Local
Coastal Plan Amendments (LCPA 02-10) and DI 02-01 for HMP Addendum No. 2, and ADOPT
Planning Commission Resolution No. 5363 APPROVING an Addendum to EIR 97-01; and that
the Planning Commission forward a minute motion to the City Council to direct staff to submit
design revisions to the Municipal Golf Course plan to the California Coastal Commission in
order to resolve the pending appeal of Golf Course Coastal Development Permit (CDP 97-25).
11. INTRODUCTION
This item involves several actions related to applying additional habitat protection and
conservation measures to the remaining undeveloped properties in the City’s coastal zone. The
LCPA includes revisions and additions to incorporate the measures into three LCP segments
(Mello 11, Mello I and Agua Hedionda). The City’s draft Habitat Management Plan is also
proposed to be amended by adding an Addendum (Addendum #2) to incorporate the coastal
habitat protection standards into the HMP document. Finally, several design revisions to plans
for the City’s Municipal Golf Course are being proposed in order to comply with the new coastal
habitat standards. A detailed description of the actions is provided in this report, as well as an
analysis of how the actions are consistent with applicable City plans and programs including the
General Plan, the City’s Coastal Program and the draft HMP. Staffs analysis concludes that the
actions are consistent with these plans and programs and, therefore, staff is recommending
support of the requested actions.
* LCPA 02-10/EIR 97-01 AddenddI 02-01HMP Addendum #2 -
HABITAT MANAGEMENT PLAN
January 22,2003
111. PROJECT DESCRIPTION AND BACKGROUND
A. BACKGROUND
Since 1991 the City of Carlsbad has been working on a HMP. The purpose of the plan is to
conserve sensitive species and their habitat while also providing for compatible public and
private development. The HMP was approved by the Carlsbad City Council on September 21,
1999. Subsequently, the first addendum was prepared based on comments by the U.S. Fish and
Wildlife Service and California Department of Fish and Game. The completed document dated
December 1999 with Addendum was submitted to the wildlife agencies for approval of an
Incidental Take Permit.
In August 2000 the federal Office of Ocean and Coastal Resource Management granted the
California Coastal Commission’s request for a Consistency Review of the HMP. This action
precluded approval of the Incidental Take Permit until the Coastal Commission has approved the
Consistency Review. The purpose of the Consistency Review in this case is to determine
whether issuance of the Incidental Take Permit to Carlsbad would be consistent with the
California Coastal Act. As a result of discussions between the City of Carlsbad and the Coastal
Commission, it was determined that the Consistency Review should be accompanied by
revisions to the HMP and to the Carlsbad LCP. The revisions are the subject of this staff report.
In addition to the revisions to the HMP and LCP, this staff report addresses modifications to the
proposed Municipal Golf Course. On June 7,2000, the Carlsbad Planning Commission certified
Environmental Impact Report EIR 97-01 and approved Coastal Development Permit CDP 97-25,
approving the Golf Course project. Subsequently, the California Coastal Commission appealed
CDP 97-25 based on concerns regarding impacts to biological resources in the coastal zone
portion of the project. Modifications have been made to the Golf Course design addressing the
Coastal Commission’s concerns. An addendum to EIR 97-01 has been prepared and is attached.
The Golf Course project modification is closely linked to both the HMP and LCP, and the
various actions are therefore being processed concurrently, as further described below.
B. PROJECT DESCRIPTION
LCP AMENDMENTS - The Carlsbad LCP consists of six segments. Three of these segments
are proposed for revision at this time. They are Mello I, Mello 11, and Agua Hedionda. The
remaining three segments (Village Redevelopment Area, West Batiquitos and East Batiquitos)
have been reviewed and do not require amendment.
Mello 11 contains the majority of undeveloped land and habitat in the coastal zone. The table
below is a summary of the key provisions added to the Mello I1 segment. For further detail,
please refer to the revised text of Mello 11 which is provided as Exhibit “A” to Resolution No.
5361.
, LCPA 02-10EIR 97-01 AddenddI 02-01HMP Addendum #2 -
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January 22,2003
TABLE 1. MAJOR CONSERVATION
Impacts to Habitat
Mitigation
Wetlands
Conservation Standards
Golf Course
Preserve Management Plan
IEASURES IN THE COASTAL ZONE
Impacts to Environmentally Sensitive Habitat
Areas (ESHA) are prohibited unless
specifically identified in the HMP.
Mitigation must include creation of new
habitat of the type being impacted at a ratio of
1 : 1 to achieve a “no net lossyy standard.
Additional mitigation must be as previously
identified in the HMP. Offsite mitigation inside
the coastal zone is preferred but may be outside
the coastal zone if it would result in greater
biological benefit.
No impacts to wetlands except for uses
allowed by Coastal Act. When allowed,
impacts must be mitigated at 4: 1 ratio.
Detailed conservation standards are provided
for 15 specified properties. If 80% or more of a
property is ESHA, 75% of the property must
be conserved. At least 67% of coastal sage
scrub and 75% of gnatcatchers must be
preserved. Hardline boundaries can be
negotiated in lieu of standards. Boundaries
differing fkom standards require LCP
amendment.
100 ft. for wetlands. 50 ft. for riparian and
coast live oak woodland. 20 ft. for all other
native habitat. Trails and fuel modification
zone 3 are permitted in buffers.
Coastal Commission can support if it complies
with new Mello I1 standards.
Plan must be prepared within 1 year from
approval of HMP. Must be adopted by LCP
amendment.
For Mello I and Agua Hedionda, the same measures as stated above apply, with the exception of
the list of 16 specified properties and the golf course. The revised text of Mello I and Agua
Hedionda are provided as Exhibits “B” and “C” to Resolution No. 5361.
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LCPA 02-10/EIR 97-01 Addend41 02-01HMP Addendum #2 -
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HMP SECOND ADDENDUM - In order to reflect the new standards that will apply inside the
coastal zone and to maintain consistency with the LCP, a second addendum to the HMP has been
prepared. The addendum, which is provided as Exhibit “X” to Resolution No. 5362, incorporates
all of the new LCP provisions outlined above, in most instances using identical wording. In
addition, the addendum includes new Hardline boundaries for two properties that are outside the
coastal zone (the Summit and Mandana). These Hardline boundaries have been prepared during
the time that the approval of the HMP has been on hold.
GOLF COURSE - Due to the revisions needed to the Municipal Golf Course design for
compliance with new coastal habitat protection policies, it is necessary to process an addendum
to the certified Environmental Impact Report for the Golf Course (EIR 97-01). The addendum,
which is provided as Exhibit “Y” to Resolution No. 5363, describes the changes that have been
made in the design, provides schematic exhibits showing the original and revised layouts, and
includes a revised table of impacts and mitigation. With respect to mitigation, a greater amount
of on-site habitat creation will be provided in order to comply with the new standards being
included in the Local Coastal Program. In addition all impacts to wetlands and southern
maritime chaparral inside the Coastal Zone have been eliminated. Because the changes to the
Golf Course were for the purpose of greater habitat protection, all impacts have been reduced
compared with EIR 97-01 as originally certified. In conjunction with the EIR addendum, staff is
also recommending that the Planning Commission, by motion, recommend to the City Council
that the revision to the Golf Course design be submitted to the Coastal Commission to resolve
the pending appeal of CDP 97-25.
IV. ANALYSIS
The recommendation of approval for these actions was developed by analyzing consistency with
city plans and programs, more specifically, the General Plan, the LCP and the draft HMP. The
following analysis section discusses consistency with each of these.
A. General Plan
The proposed actions are consistent with the applicable policies of the General Plan.
Particularly relevant are policies contained in the Land Use and Open Space and
Conservation Elements. The actions are consistent with the following stated policies of
the Land Use and Open SpaceKonservation Elements:
Develop and retain open space in all categories of land use;
Participate in programs that restore and enhance the City’s degraded natural
resources;
Implement, to the greatest extent feasible, the natural resource protection policies
of the LCP;
Preserve open space areas in as natural a state as possible;
0 Participate in the statewide and regional plans (the state of California’s Natural
Community Conservation Planning (NCCP), efforts with SANDAG and other
north county cities in the preparation of a North County Wildlife Forum Multi-
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species Habitat Conservation Plan), to conserve sensitive environmental
resources;
Coordinate planning and development of a citywide open space system with
habitat planning efforts;
Minimize the encroachment of development into wetland and riparian areas;
Coordinate the protection of wetlands, woodlands, riparian areas, and other
sensitive habitat areas with appropriate state and federal protection agencies;
Encourage and participate in regional planning efforts to protect environmentally
sensitive species from extinction;
Require adequate buffers between new development and environmentally
sensitive habitats;
Require private development which impacts sensitive resources to provide
appropriate mitigation measures, so that the existing biodiversity within the City
is maintained;
Require that at the time of any discretionary approval, any land dedicated to the
City for its habitat or scenic value, have an appropriate easement and/or zoning
placed on it for resource protection; and
Recognize and implement the policies of the California Coastal Act and the
Carlsbad LCP when reviewing potential development in the coastal zone.
B. Local Coastal Program
Compliance with the City’s certified LCP is determined by analyzing whether the
proposed LCP amendment and HMP addendum are consistent with all other applicable
policies or provisions of the LCP and the Coastal Act. Listed below are the policy areas
addressed by the three LCP segments and an explanation of how the proposed project
complies with the policy. Note: Although the three segments use slightly different
terminology to describe these policy areas, all three address the same issues.
Tal
Policy Areas
Agriculture
Geologic
Hazards
e 2 - COMPLIANCE
PurDose 1 To prevent the
premature conversion
of agricultural lands to
urban uses
To address slope
instability, soil
erosion, floodplains,
and seismic hazards
UTH LCP POLICIES
Compliance
The proposed project may have a minor
effect on agriculture by encouraging
conversion from agriculture to wildlife
habitat. However, this conversion is allowed
by Policy 2-1 of Mello 11 which states: “Any
acreage under the control of a public entity
for a public recreation or open space use
shall be exempt from Policy 2-1 and be
permitted to convert from an agricultural use
Nothing in the proposed project affects the
existing LCP provisions regarding these
hazard areas. All existing provisions remain
in full effect.
3, ...
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Table 2 - COMPLIANCE WIT1
Public Works
Recreation and
Visitor-serving
Facilities
Visual
Resources
Public Access
Environmentally
Sensitive
Habitat
To assure that
necessary
infrastructure
elements are provided
in a manner that
minimizes impacts to
coastal zone resources
To assure that
adequate opportunities
are provided for
public recreation and
facilities to serve
visitors to the coast
To assure that
development in the
coastal zone
minimizes visual
obstruction of public
coastal views
To provide the public
with maximum
opportunities for free
access to the coastline
~~~ To achieve optimum
protection of wildlife
habitat resources in
the coastal zone
LCP POLICIES, Continued
The proposed project furthers this policy by
establishing habitat protection standards that
apply to public works projects as well as
private development.
~ The proposed project does not preclude
development of any areas designated for
recreation or visitor-serving facilities. In
fact, by resolving issues of species and
habitat protection, the project facilitates
recreational development of Veterans
Memorial Park and Hub Park, as well as
privately owned properties designated for
such uses.
Among the action recommendations in the
LCP is “preservation of natural vegetation
on steep slopes” which is supported by the
project. The project does not affect or
modify any other provision of visual
resources protection.
Nothing in the proposed project effects the
existing LCP provisions regarding public
access. All existing provisions remain in full
effect.
The proposed project addresses
Environmentally Sensitive Habitat by
recommending new conservation and
development standards for properties in the
coastal zone. These new standards have been
developed in coordination with Coastal
Commission staff for the express purpose of
implementing LCP and Coastal Act policies
for the protection of habitat and species.
As demonstrated in the above discussion, the proposed project is fully consistent with the
certified LCP.
C. Habitat Management Plan
The purpose of the HMP is to promote conservation of rare habitats and species as
required by state and federal law, while also facilitating compatible economic
development of public and private land. The HMP as originally approved in 1999 did not
make any distinctions between land inside and outside the coastal zone. In response to the
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Coastal Commission’s concerns, that distinction is now being made, resulting in modified
standards for conservation in the coastal zone. The coastal zone standards, while different
from the original HMP, remain consistent with the intent of the HMP. The differences are
primarily in the areas of mitigation, Hardline Properties, treatment of highly constrained
properties, and buffers. The following discussion explains the differences between the
1999 HMP and the proposed coastal zone standards.
Compared with the 1999 HMP, the coastal zone standards generally increase the
required mitigation ratios. The coastal standards also require that 1 : 1 creation of new
habitat be a component of the mitigation. The coastal standards do not give credit for
onsite preservation of existing habitat, but credit is given for substantial restoration.
Two coastal zone properties shown as Hardlines in the 1999 HMP will be subject to
new standards which may affect their Hardline boundaries. These properties are the
City Golf Course and Kevane. The process for agreement on Hardlines is modified to
include the Coastal Commission and to require a LCP amendment when Hardlines
differ from the standards.
The 1999 HMP recognized that some properties are highly constrained, and a 75%
conservation standard was applied to these. The coastal zone standards increase the
number of parcels that are subject to the 75% standard. Requirements for conservation
of coastal sage scrub and gnatcatchers remain unchanged.
The coastal zone standards generally increased the required buffer for all habitat types.
Although the proposed coastal zone standards will create differences in the handling of
properties inside and outside the coastal zone, the proposed standards remain consistent with the
original intent of the HMP.
0
0
V. ENVIRONMENTAL REVIEW
An environmental analysis of the proposed actions was conducted and no significant impacts
were identified. The proposed actions deal primarily with biological resources in that it involves
incorporating additional conservation and protection measures for habitat located in the Coastal
Zone into the HMP and the City’s LCP. This action does not authorize or permit any
development project or any impacts to biological resources. The proposed action modifies
certain provisions of the Local Coastal Program and makes additions to the HMP to provide
higher levels of protection for biological resources. The present LCP provides some protection
for wetlands and habitats located on steep slopes. The proposal provides greater protection for
wetlands and for habitats located on areas other than steep slopes. In addition, the proposal
includes enhanced buffer requirements and the requirement for long-term management and
monitoring program for species and habitats.
Any development project which would have the potential to impact biological resources are
currently required to undergo an extensive review and permitting process which includes
biological surveys of the project site, compliance with the HMP, compliance with the LCP (for
properties located inside the Coastal Zone). CEQA compliance, public hearings, issuance of
local permits, and issuance of state or federal permits if required. These existing plans and
. - -* I
LCPA 02-10EIR 97-01 AddenddI 02-01HMP Addendum #2 -
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regulatory mechanisms ensure that potentially significant biological impacts are disclosed and
fully mitigated.
Because the actions were determined not to have any adverse impacts on the environment, a
Negative Declaration was issued by the Planning Director on December 20,2002. Notice of the
Negative Declaration was provided to the State Clearinghouse and to the County Clerk and
published in the newspaper. No written comments were received in response to the notice.
The actions would result in several design revisions to the previously approved plans for the
City’s proposed Municipal Golf Course for which an EIR (EIR 97-01) was certified. These
revisions are a result of complying with the additional habitat protection standards of the actions.
The revisions would result in greater protection of coastal habitat resources and, would reduce
the severity of previously identified impacts. Therefore, pursuant to Sections 15162 and 15164
of the California Environmental Quality Act, an Addendum to the previously certified EIR has
been prepared.
ATTACWENTS :
1.
2.
3.
4.
5.
Planning Commission Resolution No. 5360 (Neg. Dec.)
Planning Commission Resolution No. 5361 (LCPA)
Planning Commission Resolution No. 5362 (DI - HMP Addendum)
Planning Commission Resolution No. 5363 (EIR Addendum)
Revised Golf Course Routing Plan (previously distributed)