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FEIS - Tahoe Regional Planning Agency

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RESPONSE TO COMMENTS ON THE DEIS<br />

B o u l d e r B a y C o m m u n i t y E n h a n c e m e n t P r o g r a m P r o j e c t E I S<br />

8.5 RESPONSE TO UNIQUE WRITTEN COMMENTS<br />

Review of the comments made on the DEIS showed that a number of comments from commenting parties<br />

are similar in content. Master Responses have been prepared for those topics that were frequently raised.<br />

Where appropriate in the responses to comments of this final document, the reader is referred to the<br />

Master Responses. Responses to written comments not addressed in the Master Responses are<br />

provided following the Master Responses. The four Master Responses included in this <strong>FEIS</strong> are:<br />

1. Response to Comments included in a Form Letter (Traffic analysis, Water Quality Benefits, and<br />

BMPs)<br />

2. Traffic Baseline<br />

3. Internal/External Alternative Mode Trips, Fehr & Peers Mixed Use Development Model<br />

4. Accessory Uses in Relation to the Traffic Analysis<br />

Master Response 1 – Form Letter Response to Comments<br />

Comment Summary – The EIS needs to include an adequate traffic analysis, a quantification of water<br />

quality benefits, including fine sediment load reduction and complete and fully maintained BMPs for<br />

water quality.<br />

Traffic Analysis<br />

Comments regarding the traffic analysis baseline conditions and trip generation are discussed in<br />

Master Responses 2, 3, and 4 and referenced to Appendix AA of the <strong>FEIS</strong>, which includes the<br />

Boulder Bay Alternative Baseline Existing Conditions Traffic Volumes Technical Memorandum<br />

(Fehr & Peers, 2010).<br />

With regards to the questions regarding adequacy of the traffic analysis, TRPA has confirmed<br />

that for purposes of determining the level of environmental impact, the original study contained<br />

in the DEIS is consistent with and in compliance, procedurally and substantively with the TRPA<br />

Code of Ordinances as well all other traffic studies conducted by TRPA for recent Environmental<br />

Impact Studies. The DEIS traffic study is also consistent with the guidelines for completion of<br />

traffic impact studies published by the Community Development Departments for Washoe<br />

County, Placer County, Douglas County and El Dorado County.<br />

Given the number of questions raised during the comment period with regards to the traffic<br />

conditions, TRPA directed that Fehr & Peers prepare a Technical Memorandum (Appendix AA)<br />

to be used by the decision maker(s) and the public to improve decision-making.<br />

Water Quality Benefits and Fine Sediment Load Reduction<br />

The TRPA Code of Ordinances requires that a project capture the 20 yr-1hr storm on site and<br />

meet water quality discharge limits. There is currently no requirement for fine sediment, nitrogen<br />

or phosphorus load reduction. The proposed Storm Water Management Plan for Alternative C<br />

and D exceeds the current TRPA requirements and provides above and beyond benefits toward<br />

achieving the draft goals and objectives of the Lake <strong>Tahoe</strong> Total Maximum Daily Load Report<br />

(TMDL). See supplemental water quality analysis (titled Surface Water Quality - Quantification<br />

of Design Benefits for the Boulder Bay Community Enhancement (CEP) Project Stormwater<br />

PAGE 8- 12 HAUGE BRUECK ASSOCIATES SEPTEMBER 8 , 2010

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