HomeMy WebLinkAbout2014-09-17; Planning Commission; ; CUP 13-01 - SD06369 CADENCIA
The City of Carlsbad Planning Division A REPORT TO THE PLANNING COMMISSION
Item No.
Application complete date: February 12, 2013
P.C. AGENDA OF: September 17, 2014 Project Planner: Chris Garcia
Project Engineer: David Rick
SUBJECT: CUP 13-01 – SD06369 CADENCIA – Request for approval of a Conditional Use Permit to
allow for the continued operation of and revisions to an existing Wireless Communication
Facility consisting of three panel antennas housed within a faux chimney on the roof of
an existing single family residence and the relocation of existing equipment cabinets to a
new enclosure at the rear of the property located at 7412 Cadencia Street in Local
Facilities Management Zone 6. The City Planner has determined that this project is
exempt from the requirements of the California Environmental Quality Act (CEQA) per
Section 15301, “Existing Facilities” and Section 15303, “New Construction of Small
Structures,” of the State CEQA Guidelines and will not have any adverse significant impact
on the environment.
I. RECOMMENDATION
That the Planning Commission ADOPT Planning Commission Resolution No. 6996 APPROVING CUP 13-01
based upon the findings and subject to the conditions contained therein.
II. BACKGROUND
At the July 17, 2013 Planning Commission hearing, the applicant requested and was granted a continuance
of the CUP 13-01 to September 4, 2013 to allow time for the applicant and the property owner to work
through remaining issues.
At the September 4, 2013 Planning Commission hearing, the Planning Commission continued the item so
that the applicant could return with a presentation documenting whether this is the best location for the
coverage needed.
At the July 16, 2014 Planning Commission hearing, the Planning Commission continued the item at the
request of the applicant and the city to allow staff to work out remaining issues.
The applicant submitted an alternatives analysis that included seven alternative sites including: on a water
tank, electricity transmission towers, private property and Fire Station #6. Of these eight sites, seven were
considered viable from an engineering perspective. However, only a condominium project located at the
southwest corner of Cadencia Street and Piragua Street and the fire station site located at 7201 Rancho
Santa Fe Road had potential landlord interest. The home owner’s association for the condominium
project voted to not pursue the location of a Wireless Communication Facility (WCF) on their site. The
site at Fire Station #6 is the only remaining site that is potentially viable from an engineering perspective
and with potential landlord interest.
Staff continues to recommend that the existing WCF remain on the site located at 7412 Cadencia Street
with the proposed relocation of the equipment enclosure. The fire station site is zoned R-1-20,000 (One-
Family Residential) which is also a discouraged location pursuant to City Council Policy No. 64. Although
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CUP 13-01 – SD06369 CADENCIA
September 17, 2014
Page 2
no design for a WCF has been submitted, it is anticipated that the WCF will need to be a free standing
“mono-tree” at a minimum height of 60 feet and would be clearly visible from Rancho Santa Fe Road. The
existing fire station building is approximately 31.5 feet in height and is visible from Rancho Santa Fe Road
(See Attachment 6). The existing panel antennas at 7412 Cadencia Street are completely hidden in an
existing faux chimney and the relocated equipment shelter will be screened by landscaping and is
therefore better suited to meet the stealth design requirements of City Council Policy No. 64.
The complete alternative analysis discussion and associated coverage maps provided by the applicant are
attached.
ATTACHMENTS:
1. Planning Commission Resolution No. 6996
2. Location Map
3. Disclosure Statement
4. Planning Commission Staff Report dated July 17, 2013 (without attachments)
5. Alternative Analysis and Coverage Maps for SD06369 Cadencia
6. Photos of Fire Station #6 site, 7201 Rancho Santa Fe Road
7. Site Justification Letter
8. Reduced Exhibits
9. Exhibits “A” – “J” dated July 17, 2013
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CUP 13-01
SD06369 Cadencia
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The City of Carlsbad Planning Division
A REPORT TO THE PLANNING COMMISSION
Item No.
Application complete date: February 12, 2013
P.C. AGENDA OF: July 17, 2013 Project Planner: Chris Garcia
Project Engineer: David Rick
SUBJECT: CUP 13-01 – SD06369 CADENCIA – Request for approval of a Conditional Use
Permit to allow for the continued operation of and revisions to an existing
Wireless Communication Facility consisting of three panel antennas housed
within a faux chimney on the roof of an existing single family residence and the relocation of existing equipment cabinets to a new enclosure at the rear of the property located at 7412 Cadencia Street in Local Facilities Management Zone 6.
The City Planner has determined that this project is exempt from the requirements
of the California Environmental Quality Act (CEQA) per Section 15301,
“Existing Facilities” and Section 15303, “New Construction of Small Structures,”
of the State CEQA Guidelines and will not have any adverse significant impact on the environment.
I. RECOMMENDATION
That the Planning Commission ADOPT Planning Commission Resolution No. 6996 APPROVING CUP 13-01 based upon the findings and subject to the conditions contained
therein.
II. INTRODUCTION
This Conditional Use Permit (CUP) will allow for the continued operation and revisions to an
existing unmanned Wireless Communication Facility (WCF) which currently consists of two
large equipment cabinets, four small wall mounted equipment boxes and three panel antennas
housed within a faux chimney on the roof of an existing single family residence located at 7412
Cadencia Street. The two large equipment cabinets and four small wall mounted equipment boxes are proposed to be relocated from the north side of the house to a new equipment
enclosure located at the rear of the property and the three panel antennas will remain as-is. The
last Conditional Use Permit (CUP 08-10) for this use was determined to be null and void on
August 9, 2012 because the applicant (T-Mobile) failed to properly execute a Notice of
Restriction for the CUP. Accordingly, a new conditional use permit application is required to allow the continued operation of the use.
The project complies with City Standards and all necessary findings can be made for the
approval being requested. The Planning Commission is the final decision making body for this
project.
III. PROJECT DESCRIPTION AND BACKGROUND
On April 5, 2000, the Planning Commission approved CUP 99-11 to allow for the construction of a WCF consisting of two wall mounted equipment cabinets, four small wall mounted
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CUP 13-01 – SD06369 CADENCIA
July 17, 2013
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equipment boxes and three panel antennas housed within a faux chimney on the roof of an
existing single family residence located at 7412 Cadencia Street. Condition No. 8 of the
approving CUP, Planning Commission Resolution No. 4750, specified that CUP 99-11 was
granted for a period of five years but may be extended upon written application of the permittee at least 90 days prior to expiration. However, CUP 99-11 expired on April 5, 2005 since an extension request was not submitted by that date.
On December 3, 2007, approximately 2 years and 8 months after expiration, an application was
submitted to extend CUP 99-11 (CUP 99-11x1). The Planning Director sent a letter to the applicant notifying them that because an extension was not filed at least 90 days before expiration, a new CUP would need to be filed. On January 21, 2008, the applicant
acknowledged the city’s letter and requested withdrawal of CUP 99-11x1.
On May 5, 2008, an application for a new CUP (CUP 08-10) was submitted for the continued operation of the WCF and was deemed complete on April 4, 2009. On July 15, 2009, the Planning Commission approved CUP 08-10 (Planning Commission Resolution No. 6599) for a
period of 10 years.
Condition No. 6 of Planning Commission Resolution No. 6599 required the applicant to execute a Notice of Restriction. Many attempts were made yet failed to persuade the applicant to execute the Notice of Restriction. Finally, on August 9, 2012, a letter was sent to the applicant stating
that the City Planner has determined that CUP 08-10 is null and void for failure of the applicant
to properly execute a Notice of Restriction per Condition No. 6 of Planning Commission
Resolution 6599. On August 16, 2012, an appeal form was filed by the applicant with the Planning Division
requesting appeal of the City Planner’s decision that the CUP is null and void. However, the
appeal was withdrawn and a new Conditional Use Permit (CUP 13-01) was submitted for this
project. The City Council adopted a policy (City Council Policy No. 64) regarding prioritization for the
location of WCFs within the City on October 3, 2001. The guidelines state that WCFs should be
located on buildings and structures, not on vacant land. In addition, preferred locations of
WCFs, in order of priority, are industrial, commercial, public, other non-residential, public utility, park, or community facility property.
The project site has a Residential Low-Medium (RLM) General Plan Land Use designation and
is located in the Planned Community (P-C) “residential” zone. Residential zones are considered
“discouraged locations” under the City Council Policy No. 64 Guidelines. However, WCFs may
be located in “discouraged locations” if the applicant demonstrates that no feasible alternative site exists within a preferred location. The applicant submitted coverage maps identifying the
coverage needs for the facility. The areas requiring coverage are the surrounding residential
properties. The applicant has demonstrated that there are no other properties within the vicinity
that have a non-residential land use designation, and are at a high enough elevation to meet the
required WCF coverage objectives as the existing site (see Attachment 5). The nearby SDG&E towers to the north are not a feasible alternative in that the property is also located in a non-
preferred location (open space) and placing a WCF on the towers could create significant visual
impacts to surrounding neighbors.
CUP 13-01 – SD06369 CADENCIA
July 17, 2013
Page 3
The design guidelines of City Council Policy No. 64 require that all aspects of a WCF, including
the supports, antennas, screening methods, and equipment should exhibit “stealth” design
techniques so they visually blend into the background or the surface onto which they are
mounted. The policy encourages collocation wherever feasible and appropriate. No feasible place for collocation exists within the required coverage area. The project complies with the policy design guidelines in that the facility, consisting of three existing panel antennas and
relocated equipment, exhibits “stealth” design. The existing panel antennas are fully concealed
inside a 4’ x 4’ x 4’8” high faux chimney. The accessory equipment is currently located on the
northern rear side of the residential home within wall-mounted cabinets. However, at the property owner’s request, the applicant is proposing to relocate the equipment to a new enclosure at the rear of the property. The enclosure will be located on a small pad cutting into a downhill
backyard slope and will be below the existing elevation of Venado Street. It will be partially
below grade and surrounded by existing and new landscaping. Furthermore, the maximum 5’
walls of the enclosure will be painted green to help blend in with the surrounding landscaping. The equipment cabinets will be accessed from Venado Street through a new gate in the existing wrought iron fence and a new stairway along the existing hillside. A new 6’ wrought iron fence
will be installed on the sides of the enclosure and access stairway for security purposes. With this
design, the equipment enclosure will not be visible from Venado Street.
IV. ANALYSIS
The existing WCF continues to be consistent with all applicable plans, policies and regulations
described below:
A. Residential Low-Medium (RLM) General Plan Land Use Designation;
B. Planned Community (P-C) Zone (Chapter 21.38 of the Carlsbad Municipal Code) and the La Costa Master Plan (MP 149);
C. Conditional Use Permit Regulations (Chapter 21.42 of the Carlsbad Municipal Code);
D. City Council Policy Statement: Policy # 64 – Wireless Communication Facilities; and
E. Growth Management (Chapter 21.90 of the Carlsbad Municipal Code) and Zone 6 Local
Facilities Management Plan.
A. Residential Low-Medium (RLM) General Plan Land Use Designation
The project complies with the General Plan in that, the use is necessary and desirable for the
development of the community because of the benefit and demand for digital communications and data transmissions for businesses, individuals, public agencies and emergency service
systems in this part of the city. The use is consistent with the General Plan in that the Residential
Low-Medium Density (RLM) General Plan Land Use designation does not preclude the
provision of WCF uses. Additionally, the proposed antennas are screened inside the existing
chimneys and the equipment will be re-located to a new enclosure at the rear of the property which is screened by landscaping and painted green to blend in. Therefore, the project’s stealth
design complies with the General Plan objectives that seek to maintain and enhance Carlsbad’s
appearance.
CUP 13-01 – SD06369 CADENCIA
July 17, 2013
Page 4
B. Planned Community (P-C) Zone (Chapter 21.38 of the Carlsbad Municipal Code) and the La Costa Master Plan (MP 149)
In the P-C Zone, the permitted uses and structures shall be established by a master plan of development approved in accordance with Chapter 21.38 of the C.M.C. The master plan may include any use found to be necessary and desirable for a community plan. The La Costa Master
Plan does not preclude the provision of WCF uses and the existing antennas are screened inside
the existing faux chimney and the equipment is proposed in a new equipment enclosure that is
partially below grade, screened by landscaping and green colored enclosure walls. The existing WCF antennas are located within a faux chimney and are not within any of the
required front, rear or side yard setbacks. The equipment cabinets will be relocated to a new
enclosure near the rear of the property that also meets all development standards of the La Costa
Master Plan. The required CUP findings (discussed below in Section C) can be made for the proposed WCF as it is a desirable public convenience and is compatible with its surroundings.
C. Conditional Use Permit Regulations, Chapter 21.42 of the Carlsbad Municipal Code
Conditional uses such as WCFs possess unique and special characteristics that make it impractical to include them as permitted uses “by right” in any of the various zoning classifications (i.e. residential, commercial, office, industrial). The authority for the location and
operation of these uses is subject to City Council Policy Statement No. 64 – Wireless
Communication Facilities Policy (see discussion D below), Planning Commission review, and
the issuance of a CUP. Staff has reviewed the proposed project and found that all of the necessary findings can be made to approve the CUP. The required findings and satisfaction of these findings are provided in Table 1 below.
TABLE 1 – CONDITIONAL USE PERMIT FINDINGS
FINDING PROJECT CONSISTENCY
That the requested use is necessary or desirable for the development of the
community, is essentially in harmony
with the various elements and objectives
of the general plan, including, if applicable, the certified local coastal program, and is not detrimental to
existing uses or to uses specifically
permitted in the zone in which the
proposed use is to be located.
The requested use is necessary and desirable for the development of the community because of the
benefit and demand for digital communications and
data transmissions for businesses, individuals, public
agencies and emergency service systems. The proposed use is consistent with the General Plan in that the Residential Low Medium Land Use
designation does not preclude the provision of WCF
uses, nor is it detrimental to existing permitted uses
in the vicinity in that the WCF exhibits stealth design and only minor alterations to the existing site are proposed.
CUP 13-01 – SD06369 CADENCIA
July 17, 2013
Page 5
TABLE 1 – CONDITIONAL USE PERMIT FINDINGS CONTINUED
FINDING PROJECT CONSISTENCY
That the requested use is not detrimental
to existing uses or to uses specifically
permitted in the zone in which the proposed use is to be located.
T-Mobile has provided a Radio Frequency (RF)
Emissions Report to document that the RF emissions
will not exceed the FCC guidelines. The report indicates that the RF emissions of the T-Mobile
antennas will be below the FCC standard for
continuous public exposure; therefore, the project
would not be detrimental in that it would not have a
significant adverse impact on public health. The three (3) existing panel antennas would not be
aesthetically detrimental since they are housed
within a faux chimney on the roof of a residential
structure and therefore, are blended into the existing
architecture. The accessory equipment will be relocated to the rear of the property in a partially
subterranean equipment enclosure that is painted
green to match the existing and proposed
landscaping that will visually screen the enclosure,
exhibiting stealth design. A noise study has been submitted demonstrating that the relocated
equipment will comply with the city’s Noise
Guidelines Manual, ensuring compatibility with the
existing residences.
That the site for the proposed conditional
use is adequate in size and shape to
accommodate the yards, setbacks, walls, fences, parking, loading facilities, buffer areas, landscaping and other development
features prescribed in this code and
required by the city planner, planning
commission or city council, in order to integrate the use with other uses in the neighborhood.
The three (3) panel antennas are existing and housed
within a faux chimney on the roof of a residential
structure. Furthermore, the above ground equipment shelter complies with all development standards including setbacks, and is partially below grade,
screened by landscaping and painted green to further
reduce its visibility from public view.
That the street system serving the proposed use is adequate to properly
handle all traffic generated by the
proposed use.
The use generates very little traffic, requiring only routine monthly maintenance visits and occasional
visits in response to operational problems. Venado
Street will be used to access the equipment cabinets
and Cadencia Street will be used to access the panel
antennas. The existing street system is adequate to property handle any traffic generated by the use.
D. City Council Policy Statement No. 64 – Wireless Communication Facilities
Pursuant to Carlsbad Municipal Code Section 21.42.140(165)b, a WCF Conditional Use Permit
application that does not comply with the preferred location and the stealth design review and
approval guidelines of City Council Policy Statement No. 64 shall be conditionally approved or denied by the Planning Commission.
CUP 13-01 – SD06369 CADENCIA
July 17, 2013
Page 6
The facility is located in the (P-C) Planned Community residential zone, a “discouraged”
location; however as discussed in the Project Description section of this report, the applicant has
demonstrated that no feasible alternative site exists within a “preferred” location that can achieve
the required coverage objectives at its current location. The existing WCF exhibits “stealth” design in that the three existing panel antennas are fully
concealed inside a 4’ x 4’ x 4’8” high faux chimney. The existing accessory equipment is being
relocated from the northern rear side of the residential home to a new enclosure toward the rear
of the property. The new equipment enclosure will be partially below grade and will be painted green to blend into the existing and proposed landscaping that screen the structure, and therefore exhibits stealth design in its proposed location.
An updated Radio Frequency (RF) Emissions Report, dated January 30, 2013, was submitted
providing compliance with the Federal Communications Commission (FCC) RF Exposure Guidelines. The report indicates that the RF emissions of the T-Mobile antennas are below the FCC standard for continuous public exposure.
E. Growth Management Ordinance (Chapter 21.90 of the Zoning Ordinance) and
Zone 6 Local Facilities Management Plan. The proposed site is located within Local Facilities Management Plan Zone 6. The installation
of the two larger equipment cabinets and 4 smaller equipment boxes within the proposed new
equipment shelter would not result in increased public facilities demands and therefore, the
project would not exceed performance standards for public facilities. V. ENVIRONMENTAL REVIEW
The City Planner has determined that this project is exempt from the requirements of the
California Environmental Quality Act (CEQA) per Section 15301, “Existing Facilities” and Section 15303, “New Construction of Small Structures”, of the State CEQA Guidelines and will not have any adverse significant impact on the environment. A Notice of Exemption shall be
filed with the County Clerk upon approval of this project.
ATTACHMENTS: 1. Planning Commission Resolution No. 6996
2. Location Map
3. Background Data Sheet
4. Disclosure Statement
5. Applicant’s Site Analysis/Justification titled, “Telecom Site Justification Letter” 6. Coverage Exhibit for coverage with and without site
7. Reduced Exhibits
8. Exhibits “A” – “J” dated July 17, 2013
SD06369 Cadencia
Alternative Discussion
Eight alternatives were reviewed as possible replacement candidates for the on-air site located on the Codd
residence at 7412 Cadencia Street. Please refer to the attached aerial. The first five candidates are viable from
an engineering perspective, however only #5 below had potential landlord interest, and after board
consideration was not interested. The 6th candidate is located too close to the On-Air site SD06438A and will
not serve T-Mobile Engineering needs. The 7th and 8th sites are viable engineering alternatives, however 8
does not have a willing ground owner. The 7th alternative is owned by the City of Carlsbad.
1.Primary Candidate:Water tank (33.05'26.58", -117.13'12.45")
This island parcel is owned by Olivenhain Water District. There are no existing telecommunications facilities located on the parcel
presently. I spoke with the District’s Engineering Department, although they do allow telecommunication carriers on some
District properties, they explained that this water tank is not available for telecommunication facilities. The District does not
consider this property a viable location for a telecom facility due to the constricted parcel. The District no longer allows antennas
to be mounted on District water tanks. This water tank property is too constricted and they will not allow for ground space for
an independent structure.
2.SDGE Candidate D (33.05'16.67",-117.14'02.37")–Option 1 –Ground space is owned by Hawk’s View Group. They were non-
responsive.
3. SDGE Candidate C (33.05'20.06", -117.14'11.27")–Option 2 Ground space is owned by BCE Development. I contacted both
their Minnesota and New York offices. There is no interest in leasing.
4. SDGE B Candidate B (33.05'27.71",-117.14'30.2")–Option 3 Ground Space is owned by Corona La Costa Homeowner’s
Association. They were non-responsive.
5. Seapoint Tennis Candidate F (33.05'28.06", -117.14'15.91") –Option 4 –This is owned by Seapoint Tennis Club. I contacted
the Management company and the proposal for a 30 foot monopalm was presented to the Board at the January 21, 2014
meeting. The Board determined they are not interested.
6. Commercial Development Candidate G (33.04'57.43", -117.14'0.44")–Not Viable too close to On-Air Site SD06438A.
7. Fire Station Candidate H (33.04'51.1", -117.14'13.24") –The Fire Station is a viable engineering alternative. T-Mobile
conducted a site visit and determined the roof will not support a site, so the design solution would require a ground mounted
facility such as a faux tree. The approximate required height would be 60 feet to see over the fire station for line of sight to the
West.
8. SDGE Candidate I. (33.05‘42.70",-117.13'35.96")–Ground Space is owned by Center for Natural Lands Management. They are
not interested in leasing.
ATTACHMENT 5
SD06369 Cadencia Alternative Aerial
H. Fire Station #6
SD06369 Cadencia Site Map
The property located at 7412 Cadencia Street is developed with a single family home.There is an existing T-
Mobile cellular facility on the property.The facility is comprised of 3 antennas located within a faux chimney
on the roof and 2 equipment cabinets located on the north side of the house.There are no proposed changes
to the faux chimney.The equipment cabinets are proposed to be relocated to the slope at the rear of the
house and accessed from Venado Street.The cabinets will not be visible from Venado Street.The surrounding
area is developed with single family residential.The property to the North is vacant,the properties to the East
and West and South are developed with single family homes.The subject property and surrounding properties
are zoned Planned Community.
SD06369 Cadencia Land Use Map
7412 Cadencia
F. Seapoint Tennis Club
G. Commerical Development
On-Air Site SD06438
C. SDG&E groundowner BCE
D. SDG&E ground owner Hawk’s View
B. SDG&E Corona
La Costa HOA
Primary Olivenhain
Water Tank
H. Fire Station #6I.SDGE, ground owner, Center
for Natural Lands Management
SD06369 Cadencia Land Use Map
7412 Cadencia
F. Seapoint Tennis Club
G. Commerical Development
On-Air Site SD06438
C. SDG&E groundowner BCE
D. SDG&E ground owner Hawk’s View
B. SDG&E Corona
La Costa HOA
Primary Olivenhain
Water Tank
H. Fire Station #6I.SDGE, ground owner, Center
for Natural Lands Management
ATTACHMENT 6
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ARCHITECTURE + GRAPHICS
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F
I
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N
T
H
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J
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B
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.
A
N
Y
D
I
S
C
R
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P
A
N
C
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H
A
L
L
B
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B
R
O
U
G
H
T
T
O
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O
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F
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H
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D
D
A
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M
M
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C
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W
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.
DDA Project #
M
T
e
b
o
li
5'2.5'0'5'10'