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R 5066 RESOLUTION NO. 5066 A RESOLUTION OF THE CITY COUNCIL OF THE CITY OF ARROYO GRANDE, CALIFORNIA, AS A RESPONSIBLE AGENCY ADOPTING CEQA FINDINGS, A STATEMENT OF OVERRIDING CONSIDERATIONS, AND MITIGATION MONITORING AND REPORTING PROGRAM AND DIRECTING THE CITY CLERK TO FILE THE NOTICE OF DETERMINATION FOR THE CENTRAL COAST BLUE PROJECT WHEREAS, Central Coast Blue ("the Project") is a regional advanced purified water project intended to enhance supply reliability by reducing the Santa Maria Groundwater Basin's vulnerability to drought and seawater intrusion; and WHEREAS, the Project is a multi-agency collaboration between the Northern Cities Management Area agencies (the Cities of Arroyo Grande, Grover Beach, and Pismo Beach, and the Oceano Community Services District) and the South San Luis Obispo County Sanitation District; and WHEREAS, pursuant to Section 21069 of the Public Resources Code of the California Environmental Quality Act (Pub. Res. Code Sections 21000 et seq.) ("CEQA") and Sections 15096 and 15367 of the State CEQA Guidelines(Cal. Code Res., tit. 14, §15000 et seq.), the City of Arroyo Grande ("City") is a Responsible Agency for the Project and is making the requisite Findings in CEQA Guidelines Sections 15091 and 15093; and WHEREAS, the City of Pismo Beach, pursuant to Section 21067 of CEQA and Section 15367 of the CEQA Guidelines, is acting as Lead Agency for this Project; and WHEREAS, pursuant to CEQA and the State CEQA Guidelines, the City has considered the environmental effects of the project and therefore are making the necessary Findings herein; and WHEREAS, the City of Pismo Beach issued a Notice of Preparation ("NOP") of a Draft EIR for the Project on December 20, 2019, for a 45-day agency and public review period, ending on February 4, 2020; and WHEREAS, pursuant to Public Resources Code Section 21083.9 and State CEQA Guidelines Section 15082(c) and 15083, the City of Pismo Beach held a duly noticed Scoping Meeting on January 22, 2020 which the City participated in, to solicit comments on the scope of the environmental review of the Project and received comments; and WHEREAS, during the NOP circulation period, the proposed locations of specific project components were selected, including the advanced treatment facility complex, water distribution pipelines, and monitoring wells; and RESOLUTION NO. 5066 PAGE 2 WHEREAS, as a result of siting of project components, a revised NOP of the Draft EIR was issued for 45-day agency and public review period starting on April 13, 2020 and ending on May 28, 2020; and WHEREAS, a second EIR Scoping Meeting was held on May 8, 2020; and WHEREAS, a Draft EIR was prepared, incorporating comments received in response to both NOP periods; and WHEREAS, the Draft EIR determined that mitigation measures were required to mitigate impacts to a less than significant level for the following resource areas: air quality, biological resources, cultural resources, energy, environmental justice, greenhouse gas emissions, hazards and hazardous materials, hydrology and water quality, noise, transportation, and land use; and WHEREAS, the Draft EIR further concluded that despite the incorporation of all feasible mitigation measures, the Project would nonetheless result in significant unavoidable impacts relating to land use and noise; and WHEREAS, as required by State CEQA Guidelines Section 15087(a), the City of Pismo Beach provided Notice of Availability of the Draft EIR to the public on July 20, 2020, for a 45-day public and agency review period concluding on September 3, 2020; and WHEREAS, during the Draft EIR review period, the City of Pismo Beach solicited public comment at the August 18, 2020 regular City of Pismo Beach City Council meeting; and WHEREAS, the City of Pismo Beach received eleven comments on the Draft EIR, and responses to comments were provided in the Final EIR; and WHEREAS, pursuant to Public Resources Code Section 21092.5, the written responses to comments contained within the Final EIR were provided to any public agency that commented on the EIR at least 10 days prior to the City Council's certification of the Final EIR; and WHEREAS, on February 5, 2021, the City of Pismo Beach released the Final EIR("Final EIR"), which consists of the Draft EIR, all technical appendices prepared in support of the Draft EIR, all written comment letters received on the Draft EIR, written responses to all written comment letters received on the Draft EIR, and errata to the Draft EIR and technical appendices; and WHEREAS, on February 16, 2021, the City of Pismo Beach City Council conducted a duly noticed public hearing and Certified the Final EIR; and WHEREAS, on March 22, 2021, the City conducted a hearing to consider the City of Pismo Beach's EIR for this Project; and RESOLUTION NO. 5066 PAGE 3 NOW, THEREFORE, BE IT RESOLVED that the City Council of the City of Arroyo Grande as a Responsible Agency does hereby adopt CEQA Findings and Statement of Overriding Considerations as provided in Exhibit A, attached hereto and incorporated herein by this reference, and adopts a Mitigation Monitoring and Reporting Program as provided in Exhibit B, attached hereto and incorporated herein by this references On motion of Mayor Ray Russom, seconded by Council Member George, and on the following roll call vote, to wit: AYES: Mayor Ray Russom, Council Members George, Storton, Barneich, and Paulding NOES: None ABSENT: None the foregoing Resolution was passed and adopted this 23rd day of March, 2021. RESOLUTION NO. SO(p(p PAGE 4 CAREN RAY 029OM, MAYOR ATTEST: a SSICA MATSON, CITY CLERK APPROVED AS TO CONTENT: it jii)r /A , WHITNEY u DONALD, CITY MANAGER APPROVED AS TO FORM: c TIMOTH J. CARMEL, CITY ATTORNEY RESOLUTION NO. 5066 PAGE 5 EXHIBIT A CEQA FINDINGS AND STATEMENT OF OVERRIDING CONSIDERATIONS I. PURPOSE OF THE FINDINGS The purpose of these findings is to satisfy the requirement of Public Resources Code Section 21000, et seq., and Sections 15091, 15093, 15096, and 15097 of the CEQA Guidelines, 14 Cal. Code Regulations, Section 15000, et seq., associated with approval of the Central Coast Blue Project. These findings provide the written analysis and conclusions of the City Council regarding the Project. They are divided into general sections, each of which is further divided into subsections. Each addresses a particular impact topic and/or requirement of law. At times, these findings refer to materials in the administrative record. II. PROJECT OBJECTIVES Pursuant to CEQA Guidelines Section 15124, the environmental impact report must identify the objects sought by the proposed project. As noted in Section 2 of the Certified Final EIR for the Project, the Project objectives are: 1. Produce advanced purified water of a quality that can safely be used to augment groundwater supply while maintaining or improving existing groundwater quality. 2. Create a sustainable, drought-resistant, local water supply and improve water supply reliability for southern San Luis Obispo County. 3. Provide a new source of recharge to the Santa Maria Groundwater Basin to protect the basin from degradation via seawater intrusion. 4. Reduce wastewater discharges to the ocean and maximize utilization of local water supplies. 5. Facilitate continued water resources collaboration in the Northern Cities Management Area. III. PROJECT DESCRIPTION Central Coast Blue (the Project) is a multi-agency collaboration between the Northern Cities Management Area agencies (the Cities of Arroyo Grande, Grover Beach, and Pismo Beach, and the Oceano Community Services District) and the South San Luis Obispo County Sanitation District (SSLOCSD) to construct a regional recycled water project that will enhance supply reliability by injecting advanced purified water into the Santa Maria Groundwater Basin (SMGB). This will reduce vulnerability to drought and RESOLUTION NO. 5066 PAGE 6 seawater intrusion by creating a seawater intrusion barrier and supplementing the naturally occurring groundwater. Water for the Project will be sourced from two of the region's wastewater treatment facilities: the Pismo Beach Wastewater Treatment Plant (WWTP) and the SSLOCSD WWTP. Prior to injection to the SMGB, water will be treated to an advanced level of purification at a proposed advanced treatment facility (ATF) constructed at a site in the City(Assessor's Parcel Number 060-543-016). The proposed ATF will treat a combination of flows from the Pismo Beach WWTP and flows from the SSLOCSD WWTP for injection into the SMGB and/or for agricultural irrigation. Project components in addition to the ATF include an advanced purified water storage tank, an equalization basin, a pump station, distribution pipelines, injection wells, monitoring wells, one new production well, and potential agricultural irrigation pipelines. The Project will alter the pumping regime of existing, operational production wells in the project area and will include construction of one new production well to optimize groundwater production in the area. IV. CEQA PROCESS OVERVIEW The City of Pismo Beach is the lead agency for the Project. The City is a Responsible Agency for this Project. All issues recommended in Appendix G of the CEQA Guidelines were examined in the Certified Finai EIR. The City of Pismo Beach distributed a Notice of Preparation (NOP) of the EIR (SCH# 2019120560) for a 45-day agency and public review period starting on December 20, 2019 and ending on February 4, 2020. The purpose of the NOP was to inform other public agencies, interest groups and the public in general of the City of Pismo Beach's intent to prepare an EIR. The NOP also provided an opportunity for those interested in the proposed project to comment on the contents of the EIR. The NOP was also sent to the State Clearinghouse, which is responsible for forwarding it to State agencies that might be affected. In addition, as required by CEQA Guidelines Section 15082(c)(1), the City of Pismo Beach held an EIR Scoping Meeting on January 22, 2020. However, during the NOP circulation period, the proposed locations of the ATF complex, water distribution pipelines, and monitoring wells, which were previously undetermined, were selected. As a result, the City of Pismo Beach distributed a revised NOP of the EIR for a 45-day agency and public review period starting on April 13, 2020 and ending on May 28, 2020. In addition, the City of Pismo Beach held a second EIR Scoping Meeting on May 8, 2020. From July 20, 2020 to September 3, 2020, the City of Pismo Beach circulated the Draft EIR (titled "Central Coast Blue Project Draft Environmental Impact Report") for a 45-day public and agency review period pursuant to the requirements of CEQA Guidelines Section 15105(a). During this review period, the City of Pismo Beach held a public meeting on the Draft EIR on August 6, 2020 and a public comment period on the Draft EIR at the August 18, 2020 regular City of Pismo Beach Council meeting. Eleven comments were received on the Draft EIR, and responses to comments are provided in the Final EIR. The Final EIR was certified at the February 16, 2021 regular City of Pismo Beach Council meeting by Resolution No. R- 2021-011. RESOLUTION NO. 5066 PAGE 7 V. IMPACTS, MITIGATION MEASURES, AND FINDINGS The City of Arroyo Grande, as a Responsible Agency, hereby adopts and makes the following findings related to its respective portion of the Project which requires approval of the Project by the City(i.e., the full execution of the Operating Agreement by the cities of Arroyo Grande and Grover Beach, acting as Responsible Agencies, full execution of the Operating Agreement by the City of Pismo Beach, acting as the Lead Agency, along with the Investor, Member, or Partner Agencies, to undertake the Central Coast Blue Project). Having received, reviewed, and considered the entire record, both written and oral, related to the Central Coast Blue Project and Certified Final EIR, the City makes the following findings associated with significant, potentially significant, and cumulative significant impacts that can be mitigated to a less-than-significant level through implementation of mitigation measures identified in the Certified Final EIR. Air Quality Impact AQ-2 Construction of the project would generate temporary increases in criteria air pollutant emissions. Construction emissions of reactive organic gases(ROG)and nitrogen oxides(NOx)would exceed San Luis Obispo County Air Pollution Control District (SLOAPCD) construction thresholds during Phase I and Phase II. This impact would be potentially significant. Finding: Mitigation Measure(s) Feasible and Required, Impact Reduced to Less- than-Significant Level. Changes or alterations have been required in, or incorporated into, the project that avoid or substantially lessen the significant environmental effect as identified in the Final EIR. Mitigation Measures: Mitigation Measure AQ-2(a) "Standard Control Measures for Construction Equipment" has been adopted to reduce construction-related emissions of NOx and ROG during Phases I and II. Mitigation Measure AQ-2(b)"Best Available Control Technology for Construction Equipment" has been adopted to implement Best Available Control Technology for diesel-fueled construction equipment during construction-related activities. Support for Finding: According to the SLOAPCD (2012) CEQA Air Quality Handbook, for projects with estimated construction emissions that are expected to exceed the SLOAPCD daily thresholds of significance and the SLOAPCD quarterly Tier 1 thresholds of significance, implementation of standard and Best Available Control Technology measures would reduce potential air quality impacts to a less-than-significant level. These measures are required for both phases of construction activities. As shown in Table 4.1- 10 and Table 4.1-11 in Section 4.1, Air Quality, of the Final EIR, implementation of Mitigation Measures AQ-2(a) and AQ-2(b) would reduce construction-related emissions of ROG + NOx below the SLOAPCD daily and quarterly thresholds during both Phases I and II. As a result, implementation of Mitigation Measures AQ-2(a) and AQ-2(b) would RESOLUTION NO. 5066 PAGE 8 reduce construction-related air quality impacts during Phases I and II of construction to a less-than-significant level. Reference: Final EIR, Pages 4.1-20 through 4.1-24 Cumulative The project would not conflict with or obstruct implementation of the 2001 Clean Air Plan but would exceed SLOAPCD daily and quarterly thresholds for emissions of ROG + NOx during Phases I and II of construction activities. The project's contribution to the cumulative air quality impact would be cumulatively considerable. Finding: Mitigation Measure(s) Feasible and Required, Impact Reduced to Less- than-Significant Level. Changes or alterations have been required in, or incorporated into, the project that avoid or substantially lessen the significant environmental effect as identified in the Final EIR. Mitigation Measures: Mitigation Measure AQ-2(a) "Standard Control Measures for Construction Equipment" has been adopted to reduce construction-related emissions of NOx and ROG during Phases I and II. Mitigation Measure AQ-2(b)"Best Available Control Technology for Construction Equipment" has been adopted to implement Best Available Control Technology for diesel-fueled construction equipment during construction-related activities. Support for Finding: As discussed under Impact AQ-2, the project would exceed SLOAPCD daily and quarterly thresholds for emissions of ROG + NOx during Phases I and II of construction activities. As shown in Table 4.1-10 and Table 4.1-11 in Section 4.1,Air Quality, of the Final EIR, implementation of Mitigation Measures AQ-2(a) and AQ- 2(b) would reduce construction emissions below SLOAPCD thresholds. Air pollution by nature is a cumulative issue, and significance thresholds for criteria pollutant emissions are established at the levels at which impacts would be cumulatively considerable. As such, emissions below the thresholds would not be cumulatively considerable. Therefore, with mitigation incorporated, the project would not have a cumulatively considerable contribution to the cumulative air quality impact. Reference: Final EIR, Pages 4.1-20 through 4.1-24 and 4.1-28 through 4.1-29 Biological Resources Impact BIO-1: The proposed project would result in direct and indirect impacts to special status species, if present. This impact would be potentially significant. Finding: Mitigation Measure(s) Feasible and Required, Impact Reduced to Less- than-Significant Level. Changes or alterations have been required in, or incorporated into, the project that avoid or substantially lessen the significant environmental effect as identified in the Final EIR. RESOLUTION NO. 5066 PAGE 9 Mitigation Measures: Mitigation Measures B10-1(a) through BIO-1(k) would be implemented to avoid and minimize impacts to special-status species. Mitigation measures include: BIO-1(a) "California Red-legged Frog Habitat Avoidance"; BIO-1(b) "California Red-legged Frog Avoidance and Minimization Measures"; BIO-1(c) "Southwestern Pond Turtle Avoidance and Minimization Measures"; BIO-1(d) "Monarch Butterfly Avoidance"; BIO-1(e) "Nesting Bird Avoidance and Minimization Measures"; BIO-1(f) "Biological Resources Assessment"; BIO-1(g) "Special Status Plant Species Surveys"; BIO-1(h) "Special Status Plant Species Avoidance, Minimization, and Mitigation"; BIO-1(i) "Restoration Plan for Special Status Plant Species"; BIO-1(j) "Endangered/Threatened Species Avoidance and Minimization"; and BIO-1(k)"Non-listed Special Status Animal Species Avoidance and Minimization." Support for Finding: Mitigation Measures BIO-1(a) through BIO-1(e) require avoidance and minimization measures to reduce direct and indirect impacts to special status species from development of project components with known locations. Mitigation Measures B10- 1(f) through BIO-1(k) require completion of a Biological Resources Assessment and identification and implementation of appropriate avoidance and minimization measures to reduce direct and indirect impacts to special status species from development of the project components with unknown locations. As a result, implementation of Mitigation Measures BIO-1(a) through BIO-1(k) would reduce project impacts on any species identified as a candidate, sensitive, or special status species in local or regional plans, policies, or regulations, or by the California Department of Fish and Wildlife or the United States Fish and Wildlife Service to a less-than-significant level. Reference: Final EIR, Pages 4.2-37 through 4.2-44 Impact BIO-2 The project would result in direct and indirect impacts to riparian areas. This impact would be potentially significant. Finding: Mitigation Measure(s) Feasible and Required, Impact Reduced to Less- than-Significant Level. Changes or alterations have been required in, or incorporated into, the project that avoid or substantially lessen the significant environmental effect as identified in the Final EIR. Mitigation Measures: Mitigation Measure BIO-2 "Sensitive Plant Community and Environmentally Sensitive Habitat Area Avoidance and Minimization Measures" has been adopted to address potential disturbance of arroyo willow habitat during project construction and maintenance activities. Support for Finding: Mitigation Measure BIO-2 requires measures to avoid, minimize, and compensate for direct and indirect impacts to riparian habitat and other sensitive natural communities from construction and maintenance of the proposed project. As a result, implementation of Mitigation Measure BIO-2 would reduce project impacts to riparian habitat and other sensitive natural communities to a less-than-significant level. RESOLUTION NO. 5066 PAGE 10 Reference: Final EIR, Pages 4.2-45 through 4.2-46 Impact BIO-3 The project would potentially impact state and federally protected wetlands through direct removal, filling, or hydrological interruption. This impact would be potentially significant. Finding: Mitigation Measure(s) Feasible and Required, Impact Reduced to Less- than-Significant Level. Changes or alterations have been required in, or incorporated into, the project that avoid or substantially lessen the significant environmental effect as identified in the Final EIR. Mitigation Measures: Mitigation Measures BIO-3(a) through BIO-3(c) have been adopted to avoid and minimize impacts to state and federally protected wetlands. Mitigation measures include: B10-3(a) "Jurisdictional Delineation"; B10-3(b) "Drainages and Wetlands Impact Mitigation"; and BI0-3(c) "Drainages and Wetlands Best Management Practices During Construction." Support for Finding: Mitigation Measures B10-3(a)through B10-3(c) require preparation of a jurisdictional delineation to identify jurisdictional areas and implementation of avoidance, minimization and mitigation measures to avoid, minimize, and compensate for direct and indirect impacts to state or federally protected wetlands from development of the project. As a result, implementation of Mitigation Measures BIO-3(a) through B10- 3(c) would reduce project impacts on state or federally protected wetlands (including but not limited to marsh, vernal pool, coastal, etc.)through direct removal, filling, hydrological interruption, or other means to a less-than-significant level. Reference: Final EIR, Pages 4.2-47 through 4.2-49 Impact BIO-5 The project would result in impacts to biological resources protected by local policies. This impact would be potentially significant. Finding: Mitigation Measure(s) Feasible and Required, Impact Reduced to Less- than-Significant Level. Changes or alterations have been required in, or incorporated into, the project that avoid or substantially lessen the significant environmental effect as identified in the Final EIR. Mitigation Measures: Mitigation Measure B10-5 "Native Tree Inventory, Protection, and Replacement" has been adopted to minimize impacts on native trees in the project area that could potentially be affected by project construction activities. Support for Finding: Mitigation Measure BIO-5 requires implementation of avoidance, minimization, and compensation measures for protected trees. As a result, implementation of Mitigation Measure BI0-5 would avoid conflict with any local policies or ordinances protecting biological resources, such as a tree preservation policy or ordinance, reducing impacts to a less-than-significant level. RESOLUTION NO. 5066 PAGE 11 Reference: Final EIR, Page 4.2-51 Cultural Resources Impact CR-2 The proposed project has the potential to cause a substantial adverse change in the significance of unique archaeological resources and archaeological resources that may be considered historical resources. This impact would be potentially significant. Finding: Mitigation Measure(s) Feasible and Required, Impact Reduced to Less- than-Significant Level Changes or alterations have been required in, or incorporated into, the project that avoid or substantially lessen the significant environmental effect as identified in the Final EIR. Mitigation Measures: Mitigation Measures CR-2(a)through CR-2(d) have been adopted to avoid, minimize, and mitigate potential impacts on archaeological resources. Mitigation measures include: CR-2(a) "Worker's Environmental Awareness Program"; CR-2(b) "Archaeological and Native American Monitoring"; CR-2(c) "Unanticipated Discovery of Cultural Resources"; and CR-2(d) "Archaeological Resource Studies." Support for Finding: Mitigation Measures CR-2(a) though CR-2(c) require implementation of a Worker's Environmental Awareness Program, monitoring of ground disturbance by a qualified archaeologist and Native American monitor, and evaluation of any unanticipated cultural resources for all project components. In addition, Mitigation Measure CR-2(d) requires completion of archaeological resource studies for the agricultural irrigation pipelines and new production well once the locations of these project components are identified. These measures would require identification, evaluation, treatment, and mitigation of impacts to archaeological resources in accordance with CEQA. Therefore, impacts to archaeological resources would be reduced to a less-than- significant level. Reference: Final EIR, Pages 4.3-19 through 4.3-21 Enerav Impact E-2 The project would be potentially inconsistent with the energy efficiency and renewable energy policies of the City of Pismo Beach's Climate Action Plan and the City of Grover Beach's General Plan. This impact would be potentially significant. Finding: Mitigation Measure(s) Feasible and Required, Impact Reduced to Less- than-Significant Level. Changes or alterations have been required in, or incorporated into, the project that avoid or substantially lessen the significant environmental effect as identified in the Final EIR. RESOLUTION NO. 5066 PAGE 12 Mitigation Measures: Mitigation Measures E-2 "Energy Efficiency and Renewable Energy Measures" and GHG-2 "GHG Emission Reduction Measures" have been adopted to achieve consistency with energy-related measures and policies of the City of Pismo Beach's Climate Action Plan and the City of Grover Beach's General Plan. Support for Finding: Implementation of Mitigation Measures E-2 and GHG-2, which require implementation of applicable energy-related measures and policies of the City of Pismo Beach's Climate Action Plan and the City of Grover Beach's General Plan, would achieve project consistency with these plans. Impacts would be less than significant with mitigation incorporated. Reference: Final EIR, Pages 4.4-14 and 4.6-18 Cumulative The project would be potentially inconsistent with the City of Pismo Beach's Climate Action Plan and the City of Grover Beach's General Plan, which were adopted to reduce the cumulative impact of energy consumption in Pismo Beach and Grover Beach, respectively. The project's contribution to the cumulative energy impact would be cumulatively considerable. Finding: Mitigation Measure(s) Feasible and Required, Impact Reduced to Less- than-Significant Level. Changes or alterations have been required in, or incorporated into, the project that avoid or substantially lessen the significant environmental effect as identified in the Final EIR. Mitigation Measures: Mitigation Measures E-2 "Energy Efficiency and Renewable Energy Measures" and GHG-2 "GHG Emission Reduction Measures" have been adopted to achieve consistency with energy-related measures and policies of the City of Pismo Beach's Climate Action Plan and the City of Grover Beach's General Plan. Support for Finding: Implementation of Mitigation Measures E-2 and GHG-2, which require inclusion of applicable energy-related measures and policies of the City of Pismo Beach's Climate Action Plan and the City of Grover Beach's General Plan, would achieve project consistency with these plans. Therefore, with incorporation of mitigation, the project would not have a cumulatively considerable contribution to a significant cumulative impact related to the plans adopted for renewable energy and energy efficiency. Reference: Final EIR, Pages 4.4-14 through 4.4-15 and 4.6-18 Environmental Justice Impact EJ-1 Project components would be constructed in Oceano and Grover Beach, which are identified as environmental justice communities. The proposed project would potentially result in disproportionately high and adverse impacts to these communities during project construction and operation. This impact would be potentially significant. RESOLUTION NO. 5066 PAGE 13 Finding: Mitigation Measure(s) Feasible and Required, Impact Reduced to Less- than-Significant Level. Changes or alterations have been required in, or incorporated into, the project that avoid or substantially lessen the significant environmental effect as identified in the Final EIR. Mitigation Measures: Mitigation measures have been adopted to avoid and minimize adverse, localized project impacts to environmental justice communities related to air quality, hazards and hazardous materials, noise, and traffic. Mitigation measures include: Mitigation Measures AQ-2(a) "Standard Control Measures for Construction Equipment"; AQ-2(b) "Best Available Control Technology for Construction Equipment"; HAZ-1(a) "Hazardous Materials Management and Spill Prevention and Control"; HAZ-1(b) "Preparation of Hazardous Materials Business Plan"; N-1 "Construction Noise Reduction Measures"; N-2 "Acoustical Analysis of ATF Complex Operations"; and T-1 "Transportation Management Plan." Support for Finding: As discussed under the findings for Impacts AQ-2, HAZ-1, N-2, and T-1, implementation of the mitigation measures would reduce most of the project's potentially adverse localized impacts to a less-than-significant level with the exception of the project's significant and unavoidable construction noise impact associated with 24- hour drilling of the injection, monitoring, and production wells. However, the entire project area is located within the environmental justice communities of Oceano and Grover Beach, and the project's significant and unavoidable construction noise impact would be evenly distributed throughout the project area at 18 well locations, not focused on a single area. Therefore, this impact would not affect one area or population more than another. Furthermore, construction noise impacts would be short-term, temporary, and typical of construction projects occurring throughout the region, which often generate temporary increases in noise. Therefore, although this impact would occur in the environmental justice communities of Oceano and Grover Beach, this impact would not be disproportionately high and adverse. As such, with mitigation incorporated, construction of the proposed project would not result in any disproportionately high impacts on minority, low income, or disadvantaged communities. Therefore, environmental justice impacts would be reduced to a less-than-significant level. Reference: Final EIR, Pages 4.1-20 through 4.1-24, 4.5-6 through 4.5-8, 4.7-9 through 4.7-10, 4.10-24 through 4.10-27, 4.10-32 through 4.10-34, and 4.11-11 through 4.11-13 Greenhouse Gas Emissions Impact GHG-2 The proposed project would be potentially inconsistent with the City of Pismo Beach's Climate Action Plan. This impact would be potentially significant. Finding: Mitigation Measure(s) Feasible and Required, Impact Reduced to Less- than-Significant Level. Changes or alterations have been required in, or incorporated RESOLUTION NO. 5066 PAGE 14 into, the project that avoid or substantially lessen the significant environmental effect as identified in the Final EIR. Mitigation Measures: Mitigation Measure GHG-2 "GHG Emission Reduction Measures" has been adopted to achieve consistency with the City of Pismo Beach's Climate Action Plan. Support for Finding: Implementation of Mitigation Measure GHG-2, which requires implementation of applicable measures from the City of Pismo Beach's Climate Action Plan, would achieve project consistency with this plan. Therefore, impacts would be less than significant with mitigation incorporated. Reference: Final EIR, Pages 4.4-14 and 4.6-18 Cumulative The project would be potentially inconsistent with the City of Pismo Beach's Climate Action Plan, which was adopted to reduce the cumulative impact of greenhouse gas(GHG)emissions in Pismo Beach. The project's contribution to the cumulative GHG emissions impact would be cumulatively considerable. Finding: Mitigation Measure(s) Feasible and Required, Impact Reduced to Less- than-Significant Level. Changes or alterations have been required in, or incorporated into, the project that avoid or substantially lessen the significant environmental effect as identified in the Final EIR. Mitigation Measures: Mitigation Measure GHG-2 "GHG Emission Reduction Measures" has been adopted to achieve consistency with the City of Pismo Beach's Climate Action Plan. Support for Finding: The issue of climate change involves an analysis of whether a project's contribution towards an impact is cumulatively considerable.As discussed under Impact GHG-2, the project would be potentially inconsistent with the City of Pismo Beach's Climate Action Plan. Implementation of Mitigation Measure GHG-2, which requires implementation of applicable measures from the City of Pismo Beach's Climate Action Plan, would achieve project consistency with this plan. Therefore, with implementation of Mitigation Measure GHG-2, project impacts would therefore not be cumulatively considerable. Reference: Final EIR, Pages 4.4-14 and 4.6-18 Hazards and Hazardous Materials Impact HAZ-1 Construction and operation of the project would increase the routine transport and use of hazardous materials in the project area but would not create a significant hazard to the public or the environment. The project has the potential to result in the release of hazardous materials RESOLUTION NO. 5066 PAGE 15 through reasonably foreseeable upset or accident conditions during both construction and operation of the project. This impact would be potentially significant. Finding: Mitigation Measure(s) Feasible and Required, Impact Reduced to Less- than-Significant Level. Changes or alterations have been required in, or incorporated into, the project that avoid or substantially lessen the significant environmental effect as identified in the Final EIR. Mitigation Measures: Mitigation Measures HAZ-1(a)"Hazardous Materials Management and Spill Prevention and Control"; HAZ-1(b) "Preparation of Hazardous Materials Business Plan"; BIO-3(c) "Drainages and Wetlands Best Management Practices During Construction"; and HWQ-1 "Initial Quarterly Radioactivity Testing" have been adopted to reduce the project's potential environmental effects with hazardous materials. Support for Finding: Mitigation Measure HAZ-1(a) includes preparation of a Hazardous Materials Management and Spill Prevention and Control Plan prior to commencement of construction activities to reduce potential construction-related impacts resulting from the routine transport and storage of hazardous materials. Implementation of Mitigation Measure HAZ-1(b) entails the creation and implementation of a Hazardous Materials Business Plan for the ATF complex to reduce the potential for adverse impacts to occur in the event of spills and/or accidental releases of hazardous materials. Implementation of Mitigation Measure BIO-3(c) requires implementation of construction best management practices, including measures for handling hazardous materials near jurisdictional areas such as Arroyo Grande Creek, which would further reduce the potential release of hazardous materials through foreseeable upset or accident conditions. Implementation of Mitigation Measure HWQ-1 requires implementation of initial quarterly radioactive monitoring to identify violations of radioactivity levels and resolution of exceedances via additional treatment processes to reduce water quality impacts related to radioactive toxicity. Altogether, these mitigation measures would address the potential release of hazardous materials into the environment and would reduce the potential for adverse impacts to occur in the event of spills and/or accidental releases of hazardous materials. Therefore, impacts would be less than significant with mitigation incorporated. Reference: Final EIR, Pages 4.2-47 through 4.2-49, 4.7-9 through 4.7-10, and 4.8-27 through 4.8-28 Impact HAZ-2 Although construction activities for the project would be conducted in compliance with all applicable regulations for the transport, storage, use, and disposal of hazardous materials and precautions would be taken to reduce potential risks, there is potential for an accidental release of hazardous materials within 0.25 mile of a school. This impact would be potentially significant. RESOLUTION NO. 5066 PAGE 16 Finding: Mitigation Measure(s) Feasible and Required, Impact Reduced to Less- than-Significant Level. Changes or alterations have been required in, or incorporated into, the project that avoid or substantially lessen the significant environmental effect as identified in the Final EIR. Mitigation Measures: Mitigation Measure HAZ-1(a) "Hazardous Materials Management and Spill Prevention and Control" has been adopted to minimize impacts related to the handling of hazardous materials in the vicinity of a school. Support for Finding: Mitigation Measure HAZ-1(a) entails development and implementation of a Hazardous Materials Management and Spill Prevention and Control Plan for project construction that will include measures for minimizing risks associated with accidental release of hazardous materials, including in proximity to existing or proposed schools. Implementation of Mitigation Measure HAZ-1(a) would address potential release of hazardous materials into the environment and would reduce the potential for adverse impacts to occur in the event of spills and/or accidental releases of hazardous materials in the vicinity of a school. Therefore, impacts would be less than significant with mitigation incorporated. Reference: Final EIR, Pages 4.7-9 through 4.7-11 Impact HAZ-5 Project construction would have the potential to interfere with an adopted emergency response plan or evacuation plan. This impact would be potentially significant. Finding: Mitigation Measure(s) Feasible and Required, Impact Reduced to Less- than-Significant Level. Changes or alterations have been required in, or incorporated into, the project that avoid or substantially lessen the significant environmental effect as identified in the Final EIR. Mitigation Measure: Mitigation Measure T-1 "Transportation Management Plan" has been adopted to minimize potential impacts to emergency response routes and evacuation routes during project construction. Support for Finding: Mitigation Measure T-1 would reduce the potential for project construction to interfere with an adopted emergency response plan or evacuation plan by outlining temporary detour routes and alternative emergency access routes. As a result, implementation of Mitigation Measure T-1 would reduce impacts to emergency response plans and evacuation plans to a less-than-significant level. Reference: Final EIR, Pages 4.7-13 and 4.11-11 through 4.11-13 Hydrology and Water Quality Impact HWQ-1 The project would potentially violate water quality standards.This impact would be potentially significant. RESOLUTION NO. 5066 PAGE 17 Finding: Mitigation Measure(s) Feasible and Required, Impact Reduced to Less- than-Significant Level. Changes or alterations have been required in, or incorporated into, the project that avoid or substantially lessen the significant environmental effect as identified in the Final EIR. Mitigation Measure: Mitigation Measures HWQ-1 "Initial Quarterly Radioactivity Testing" and BIO-3(c) "Drainages and Wetlands Best Management Practices During Construction" have been adopted to reduce potential impacts on surface water and marine water quality. Support for Finding: Mitigation Measure HWQ-1 requires implementation of initial quarterly radioactive monitoring to identify violations of radioactivity levels and resolution of exceedances via additional treatment processes to achieve compliance with the City of Pismo Beach's and SSSLOCSD's National Pollutant Discharge Elimination System permit requirements for effluent discharge from the existing ocean outfall. Mitigation Measure BIO-3(c) requires implementation of best management practices for grading and construction within jurisdictional areas where impacts are authorized and where construction occurs within 100 feet from jurisdictional areas or wetlands. As a result, implementation of Mitigation Measures HWQ-1 and BIO-3(c) would reduce project impacts on surface water and marine water quality to a less-than-significant level. Reference: Final EIR, Pages 4.2-47 through 4.2-49 and 4.8-27 through 4.8-28 Noise Impact N-2 Operation of the proposed project would potentially generate substantial permanent increases in ambient noise levels in the vicinity of the project in excess of local standards. This impact would be potentially significant. Finding: Mitigation Measure(s) Feasible and Required, Impact Reduced to Less- than-Significant Level. Changes or alterations have been required in, or incorporated into, the project that avoid or substantially lessen the significant environmental effect as identified in the Final EIR. Mitigation Measure: Mitigation Measure N-2 "Acoustical Analysis of ATF Complex Operations" has been adopted to minimize operational noise impacts. Support for Finding: Mitigation Measure N-2 requires preparation of an acoustical analysis upon completion of the 30 percent design for the ATF complex and selection of equipment. The acoustical analysis will determine specific operational noise impacts and identify siting and/or design features that will be implemented to reduce operational noise levels to below the operational exterior and interior noise level limits for stationary noise sources during daytime and nighttime hours. As a result, operational noise impacts would be less-than-significant with mitigation incorporated. RESOLUTION NO. 5066 PAGE 18 Reference: Final EIR, Pages 4.10-32 through 4.10-34 Cumulative Given the proximity of cumulative projects to project components with known locations, cumulative daytime construction noise impacts would be potentially significant. The project's contribution to the cumulative daytime construction noise impact would be cumulatively considerable. Finding: Mitigation Measure(s) Feasible and Required, Impact Reduced to Less- than-Significant Level. Changes or alterations have been required in, or incorporated into, the project that avoid or substantially lessen the significant environmental effect as identified in the Final EIR. Mitigation Measure: Mitigation Measure N-1 "Construction Noise Reduction Measures" has been adopted to minimize daytime construction noise impacts. Support for Finding: Mitigation Measure N-1 requires implementation of construction noise reduction measures that would reduce construction noise levels below the exterior construction noise threshold of 80 dBA Leq.1 Furthermore, Mitigation Measure N-1 requires the City of Pismo Beach and/or its contractor(s) to schedule construction of IW- 5A, IW-5B, and MW-5A/5B/5C so that construction activities do not overlap with construction of the SSLOCSD Wastewater Redundancy Project, which would minimize the project's contribution to cumulative construction noise impacts at residences located west and north of the SSLOCSD WWTP property. Therefore, with mitigation incorporated, the project would not have a cumulatively considerable contribution to the significant cumulative impact related to daytime construction noise. Reference: Final EIR, Pages 4.10-24 through 4.10-27 and 4.10-38 Transportation Impact T-1 Project construction would conflict with a program, plan, ordinance or policy addressing the circulation system, including transit, roadway, bicycle and pedestrian facilities. This impact would be potentially significant. Finding: Mitigation Measure(s) Feasible and Required, Impact Reduced to Less- than-Significant Level. Changes or alterations have been required in, or incorporated into, the project that avoid or substantially lessen the significant environmental effect as identified in the Final EIR. Mitigation Measure: Mitigation Measure T-1 "Transportation Management Plan" has been adopted to minimize conflicts with local programs, plans, and ordinances addressing the circulation system. 1 dBA=A-weighted decibels; Leg =equivalent noise level RESOLUTION NO. 5066 PAGE 19 Support for Finding: Mitigation Measure T-1 requires implementation of designated construction traffic routes, damage repair procedures, and traffic control measures to minimize and mitigate potential impacts to the movement of vehicles, public transit, bicycles, and/or pedestrians within the project area due to construction traffic and lane and/or road closures during project construction. In addition, Mitigation Measure T-1 requires coordination with South County Transit and designation of alternative bicycle and pedestrian routes during project construction to compensate for impacts to transit stops and bicycle and pedestrian facilities. As a result, impacts would be less than significant with mitigation incorporated. Reference: Final EIR, Pages 4.11-11 through 4.11-13 Impact T-4 The project would potentially result in inadequate emergency access during construction activities. This impact would be potentially significant. Finding: Mitigation Measure(s) Feasible and Required, Impact Reduced to Less- than-Significant Level. Changes or alterations have been required in, or incorporated into, the project that avoid or substantially lessen the significant environmental effect as identified in the Final EIR. Mitigation Measure: Mitigation Measure T-1 "Transportation Management Plan" has been adopted to minimize impacts to emergency access in the project area. Support for Finding: Mitigation Measure T-1 requires implementation of traffic control measures and coordination with emergency response providers to minimize impacts to emergency access in the project area due to lane and/or road closures during project construction. As a result, implementation of Mitigation Measure T-1 would reduce construction impacts related to emergency access to a less-than-significant level. Reference: Final EIR, Pages 4.11-11 through 4.11-13 and 4.11-15 Cumulative Given the proximity of cumulative projects to project components with known locations, cumulative construction traffic impacts would be potentially significant. The project's contribution to the cumulative construction traffic impact would be cumulatively considerable. Finding: Mitigation Measure(s) Feasible and Required, Impact Reduced to Less- than-Significant Level. Changes or alterations have been required in, or incorporated into, the project that avoid or substantially lessen the significant environmental effect as identified in the Final EIR. Mitigation Measures: Mitigation Measure T-1 "Transportation Management Plan" has been adopted to minimize construction traffic conflicts in the project area. RESOLUTION NO. 5066 PAGE 20 Support for Finding: Mitigation Measure T-1 requires coordination with other active construction projects within 0.25 mile of project construction sites to minimize simultaneous lane and/or road closures, major deliveries, and haul truck trips. Mitigation Measure T-1 also requires designating alternate detour routes and construction traffic routes that avoid these projects to the maximum extent practicable. Therefore, with mitigation incorporated, the project would not have a cumulatively considerable contribution to the significant cumulative impact related to construction traffic. Reference: Final EIR, Pages 4.11-11 through 4.11-13 and 4.11-15 through 4.11-16 Findings Associated with Significant Impacts that Cannot Feasibly Be Mitigated to a Less-than-Significant Level Land Use Impact LU-2 The project would potentially result in significant environmental impacts due to potential conflicts with land use plans, policies, and regulations adopted for the purpose of avoiding or mitigating an environmental effect. This impact would be potentially significant. Finding: Mitigation Measures Required but Impact Not Reduced to Less than Significant Level. Changes or alterations have been required in, or incorporated into, the project that substantially lessen the significant environmental effect as identified in the Final EIR, but a significant unavoidable impact remains even after mitigation. Avoidance of the impact altogether is infeasible taking into account economic, legal, social, technological and/or other considerations, including considerations for the provision of employment for highly trained workers. Mitigation Measure: Mitigation measures have been adopted to avoid and minimize the project's potential conflicts with land use plans, policies, and regulations adopted for the purpose of avoiding or mitigating an environmental effect. Mitigation measures include: CR-2(a) "Worker's Environmental Awareness Program"; CR-2(b) "Archaeological and Native American Monitoring"; CR-2(c) "Unanticipated Discovery of Cultural Resources"; CR-2(d) "Archaeological Resource Studies"; BIO-3(a) "Jurisdictional Delineation"; BIO- 3(b)"Drainages and Wetlands Impact Mitigation"; BIO-3(c)"Drainages and Wetlands Best Management Practices During Construction"; HAZ-1(a) "Hazardous Materials Management and Spill Prevention and Control"; HAZ-1(b) "Preparation of Hazardous Materials Business Plan"; N-1 "Construction Noise Reduction Measures"; and N-2 "Acoustical Analysis of ATF Complex Operations". Support for Finding: Mitigation Measures CR-2(a) through CR-2(d) would address potential impacts to known and unknown archaeological resources through implementation of a Worker's Environmental Awareness Program, monitoring of ground disturbance by a qualified archaeologist and Native American monitor, evaluation of any unanticipated cultural resources, and preparation of archaeological resource studies with implementation of additional mitigation, as needed, for project components with unknown RESOLUTION NO. 5066 PAGE 21 locations. Mitigation Measures BIO-3(a) through BIO-3(c) would avoid, minimize, and compensate for direct and indirect impacts to state or federally protected wetlands from development of the project. Mitigation Measures HAZ-1(a) and HAZ-1(b) would address the potential release of hazardous materials into the environment and would reduce the potential for adverse impacts to adjacent land uses in the event of spills and/or accidental releases of hazardous materials. Mitigation Measures N-1 and N-2 would minimize noise conflicts with adjacent land uses. Groundwater well construction requires 24-hour drilling activities, and implementation of Mitigation Measure N-1 would reduce nighttime construction noise impacts to the extent feasible. However, it is possible that the final well locations may shift within a 50-foot radius of their current locations during final engineering and/or during installation to account for subsurface conditions. As a result, the final well locations may be closer to sensitive receivers than analyzed herein such that the specified mitigation measures would not sufficiently reduce noise levels. Furthermore, residents in Grover Beach within 100 feet of well locations and residents in unincorporated San Luis Obispo County within 175 feet of well locations may voluntarily choose not to be temporarily relocated during 24-hour well drilling activities and would be exposed to a significant temporary increase in ambient noise levels in excess of the specified thresholds, which are based on compliance with the San Luis Obispo County Code and Grover Beach Municipal Code. As a result, land use impacts related to the 24-hour well drilling activities would be significant and unavoidable. Reference: Final EIR, Pages 4.2-47 through 4.2-49, 4.3-19 through 4.3-21, 4.7-9 through 4.7-10, 4.9-5 through 4.9-12, 4.10-24 through 4.10-27, and 4.10-32 through 4.10-34 Noise Impact N-1 Project construction would generate substantial temporary increases in ambient noise levels in the vicinity of project components in excess of local standards during project construction. Finding: Mitigation Measure Required but Impact Not Reduced to Less than Significant Level. Changes or alterations have been required in, or incorporated into, the project that substantially lessen the significant environmental effect as identified in the Final EIR, but a significant unavoidable impact remains even after mitigation. Avoidance of the impact altogether is infeasible taking into account economic, legal, social, technological and/or other considerations, including considerations for the provision of employment for highly trained workers. Mitigation Measure: Mitigation Measures N-1, BIO-1(a), BIO-1(b), BIO-1(e), and BIO- 1(j) have been adopted to minimize construction noise to the extent feasible. Mitigation measures include: N-1 "Construction Noise Reduction Measures"; BIO-1(a) "California Red-legged Frog Habitat Avoidance"; BIO-1(b) "California Red-legged Frog Avoidance and Minimization Measures"; BIO-1(e) "Nesting Bird Avoidance and Minimization Measures"; and BIO-1 (j) "Endangered/Threatened Species Avoidance and Minimization". RESOLUTION NO. 5066 PAGE 22 Support for Finding: Mitigation Measures BIO-1(a), BIO-1(b), BIO-1(e), and BIO-1(j) would require avoidance and minimization measures to reduce indirect construction noise impacts to special status species. Implementation of Mitigation Measure N-1 would entail the use of several noise reduction measures, including mufflers and temporary sound barriers. Use of critical grade mufflers would reduce engine noise levels from mobile construction equipment by at least 10 dBA in comparison to industrial grade mufflers, and installation of portable sound enclosures for generators and air compressors would reduce noise levels by at least 10 dBA. Temporary sound barriers would reduce noise levels from well drilling activities by approximately 9 to 20 dBA, depending on the barrier height specified for each well location. Implementation of Mitigation Measure N-1 would reduce daytime construction noise levels during the site preparation, well drilling, and site restoration phases of construction for MW-1C/1D and MW-2D/2E/2F at the sensitive receivers nearest to the injection and monitoring wells below the daytime exterior noise thresholds. Therefore, daytime construction noise impacts related to site preparation, well drilling, and site restoration for the injection and monitoring wells would be reduced to a less-than-significant level. In addition to mufflers, enclosures, and barriers, Mitigation Measure N-1 would require the closure of campsites within 200 feet of IW-1, IW-2A, IW-2B, IW-3, MW-1A/1B, MW- 2A/2B/2C, and MW-3A/3B as well as the temporary relocation of residents in the yGrover Beach within 100 feet of construction activity in Grover Beach and residents in unincorporated San Luis Obispo County within 175 feet of construction activity during 24- hour well drilling activities to reduce daytime and nighttime noise impacts. Therefore, by closing the nearest campsites and temporarily relocating nearby residents, the nearest noise-sensitive receivers would be located at greater distances, which would reduce noise impacts. As shown in Table 4.10-18 and Table 4.10-19 in Section 4.10, Noise, of the Final EIR, for the injection wells and monitoring wells, respectively, implementation of Mitigation Measure N-1 would reduce 24-hour well drilling noise levels at the nearest noise-sensitive receivers below the daytime and nighttime exterior noise thresholds. In addition, nighttime exterior noise levels for project components in unincorporated San Luis Obispo County would be reduced below 55 dBA Leq and 75 dBA Lmax, which would result in interior noise levels below the thresholds of 35 dBA Leq and 55 dBA Lmax.2 Nighttime exterior noise levels for project components in Grover Beach would be reduced below 60 dBA Leq, which would result in interior noise levels below the threshold of 40 dBA Leq. It is possible that the final well locations may shift within a 50-foot radius of their current locations during final engineering and/or during installation to account for subsurface conditions. As a result, the final well locations may be closer to sensitive receivers than analyzed in the Final EIR such that the specified mitigation measures would not sufficiently reduce noise levels. Furthermore, residents in Grover Beach within 100 feet of well locations and residents in unincorporated San Luis Obispo County within 175 feet of well locations may voluntarily choose not to be temporarily relocated during 24-hour 2 Lmax = maximum instantaneous noise level RESOLUTION NO. 5066 PAGE 23 well drilling activities and would be exposed to a significant temporary increase in ambient noise levels in excess of the specified thresholds. Therefore, construction noise impacts would be minimized but not completely mitigated through implementation of Mitigation Measure N-1. As a result, construction noise impacts related to the 24-hour well drilling activities for the injection and monitoring wells would be significant and unavoidable. Furthermore, implementation of Mitigation Measure N-1 would require preparation of an acoustical analysis for the new production well once its location is known to determine the specifications for noise reduction measures that would reduce construction noise levels for this project component to below the daytime and nighttime thresholds. However, if new production well is sited within 100 feet of residences such that temporary relocation of residents would be required to fully mitigate construction noise impacts, residents may voluntarily choose not to be temporarily relocated during 24-hour well drilling activities and would be exposed to a significant temporary increase in ambient noise levels in excess of the specified thresholds. Therefore, construction noise impacts would be minimized but not eliminated through implementation of Mitigation Measure N-1. As a result, construction noise impacts related to the production well would be significant and unavoidable. Reference: Final EIR, Pages 4.10-17 through 4.10-31 VI. PROJECT ALTERNATIVES In addition to proposing mitigation measures to reduce the impacts associated with the proposed Central Coast Blue Project, the Certified Final EIR presented several alternatives to project development. The alternatives presented included the statutorily- mandated "No Project" alternative, a "No Agricultural Irrigation Pipelines" alternative, an "ATF Complex at SSLOCSD WWTP" alternative, a "Modified Locations of Injection and Monitoring Wells" alternative, an "Increased State Water Project Allocation" alternative, and an "Increased Storage of Lopez Reservoir' alternative. The second alternative was specifically formulated to provide an alternative that furthered at least some of the project objectives while lessening (though not necessarily eliminating) one or more of the Project's significant but mitigable impacts. No Project alternatives that would both meet Project objectives and avoid the Project's significant and unavoidable construction noise and land use impacts were identified because hydrogeologic limitations and regulatory requirements constrain the feasible locations of the infrastructure necessary to meet Project objectives (i.e., injection, monitoring, and production wells). As such, it is not feasible to site all injection and monitoring wells at a sufficient distance from residential and hotel/motel land uses to avoid these impacts while also accounting for optimal hydrogeologic conditions and compliance with regulatory requirements for groundwater injection and indirect potable reuse. The Certified Final EIR presents a reasonable range of alternatives that also allows the City Council to consider (by extrapolation) the possibility of variations of the alternatives presented. Each of the alternatives presented in the Certified Final EIR are rejected as infeasible. The City Council makes this determination after taking into account economic, legal, RESOLUTION NO. 5066 PAGE 24 social, technological and/or other considerations, including the provision of employment opportunities for highly trained workers. The justifications for rejecting the Certified Final EIR alternatives as infeasible are explained below for each separate alternative. Alternative 1: No Project Alternative The "No Project" alternative is mandated by CEQA. It allows for an assessment of what the environmental consequences are of not moving forward with a proposed Project. The No Project Alternative assumes that the proposed ATF complex, water distribution pipelines, injection wells, monitoring wells, new production well, and agricultural irrigation pipelines are not constructed. The full volume of secondary treated effluent from the Pismo Beach and SSLOCSD WWTPs continues to be discharged to the ocean via the outfall pipeline. No seawater intrusion barrier is developed, and no additional recharge of the SMGB occurs. In addition, no recycled water is provided for agricultural irrigation. No change in environmental conditions would occur under this alternative because no development would occur and site conditions would not change. This alternative would avoid the proposed project's significant and unavoidable construction noise and land use impacts related to 24-hour well drilling activities and significant but mitigable impacts in the areas of air quality, biological resources, cultural resources, environmental justice, GHG emissions, hazards, hydrology and water quality, operational noise, and transportation. No significant impacts would occur under this alternative, and none of the mitigation measures recommended for the proposed Project would apply. Alternative 1 is considered the environmentally superior alternative because it would eliminate all of the anticipated adverse environmental effects of the Project, including the Project's significant and unavoidable construction noise and land use impacts related to 24-hour well drilling activities. However, this alternative is rejected as infeasible because it would not achieve the stated Project objectives and would not result in the Project's important beneficial impacts of improving water supply reliability; creating a sustainable, drought-resistant local water supply for southern San Luis Obispo County; providing a new source of recharge to the SMGB to protect the basin from degradation via seawater intrusion; and potentially providing a new source of water for agricultural irrigation. The City Council wishes instead to approve a project that would further longstanding State, regional, and local objectives for water supply, reliability, and resiliency rather than maintaining the current water supply portfolio as is. Alternative 2: No Agricultural Irrigation Pipelines Similar to the proposed Project, this alternative consists of an ATF complex (including an advanced purified water storage tank, an equalization tank, and a pump station), water distribution pipelines, injection wells, monitoring wells, and one new production well. However, under this alternative, agricultural irrigation pipelines would not be constructed as part of Phase II of the project, and water produced by the ATF complex would not be used to irrigate agricultural lands south of Oceano. Instead, either all advanced purified water produced from the ATF complex under Phases I and II (approximately 3.9 million RESOLUTION NO. 5066 PAGE 25 gallons per day) would be used for groundwater injection, or the ATF complex would be constructed with less capacity than under the proposed Project, thereby processing less secondary treated effluent from the Pismo Beach and SSLOCSD WWTPs.3 The purpose of this alternative is to avoid Project impacts associated with the construction of agricultural irrigation pipelines across Arroyo Grande Creek. Potential impacts associated with the remaining Project components (i.e., injection wells, monitoring wells, water distribution pipelines, ATF complex, and new production well) would occur as described for the proposed Project. Of the alternatives that would meet Project objectives, Alternative 2 would be the environmentally superior alternative because it would not include construction of agricultural irrigation pipelines and would therefore avoid all impacts associated with that project component, including those related to air quality, biological resources, cultural resources, energy, GHG emissions, noise, and transportation/traffic. However, Alternative 2 would not avoid the project's significant and unavoidable construction noise and land use impacts associated with 24-hour well drilling activities for the injection, monitoring, and production wells because construction of the injection, monitoring, and production wells in close proximity to residential land uses would still be required. As a result, construction noise and land use impacts under Alternative 2 would remain significant and unavoidable. Although Alternative 2 would attain the basic Project objectives, it is rejected as infeasible because the reduction in environmental impacts under this alternative would involve an undesirable trade-off in that it would preclude the potential for the beneficial use of excess recycled water for agricultural irrigation purposes. Furthermore, all of the Project's environmental impacts that would be lessened by Alternative 2 would already be minimized and reduced to a less-than-significant level for the proposed Project through implementation of the mitigation measures identified in the Certified Final EIR. Alternative 3: ATF Complex at SSLOCSD WWTP Similar to the proposed Project, Alternative 3 consists of an ATF complex (including an advanced purified water storage tank, an equalization tank, and a pump station), water distribution pipelines, injection wells, monitoring wells, and one new production well. Alternative 3 would include injection of advanced purified water into the SMGB to develop a seawater intrusion barrier. In addition, a portion of the water from the ATF may be used for agricultural irrigation. However, under Alternative 3, the ATF complex would be constructed at the existing SSLOCSD WWTP facility at 1600 Aloha Place in Oceano. The purpose of this alternative is to provide an alternative siting option for the ATF complex. Alternative 3 would result in generally similar environmental impacts as the proposed Project because the nature of project components would remain the same and most project components would be constructed in the same or similar locations. However, 3 The determination of whether to construct an ATF complex with less capacity rather than use all advanced purified water for groundwater injection would be dependent on if additional groundwater recharge is necessary for protection and augmentation of groundwater supplies. RESOLUTION NO. 5066 PAGE 26 Alternative 3 would result in potentially greater environmental impacts than the proposed Project related to energy and hydrology and water quality, which would require additional mitigation measures to reduce impacts to a less-than-significant level. Furthermore, Alternative 3 would not avoid the Project's significant and unavoidable construction noise and land use impacts associated with 24-hour well drilling activities for the injection, monitoring, and production wells because construction of the injection, monitoring, and production wells in close proximity to residential land uses would still be required. As a result, construction noise and land use impacts under Alternative 3 would remain significant and unavoidable. Although Alternative 3 would attain the basic Project objectives, it is rejected as infeasible because this alternative would result in similar or greater environmental impacts than the proposed project and would require additional flood protection design considerations to account for the location of the ATF complex in a FEMA-designated 100-year Special Flood Hazard Area. Alternative 4: Modified Locations of Injection and Monitoring Wells Similar to the proposed Project, Alternative 4 consists of an ATF complex (including an advanced purified water storage tank, an equalization tank, and a pump station), water distribution pipelines, injection wells, monitoring wells, one new production well, and agricultural irrigation pipelines. Alternative 4 would include injection of advanced purified water into the SMGB to develop a seawater intrusion barrier. In addition, a portion of the water from the ATF complex may be used for agricultural irrigation. However, under Alternative 4, the locations of some injection and monitoring wells and water distribution pipeline alignments would be modified to avoid recreational impacts to the Coastal Dunes RV Park and Campground. Under this alternative, IW-1, IW-2A, IW-2B, IW-3, and MW- 2A/2B/2C would be sited outside the Coastal Dunes RV Park and Campground, and the locations of all remaining monitoring wells would shift to be located in accordance with regulatory requirements for travel times. To accommodate the modified locations of 1W- 1, IW-2A, IW-2B, and IW-3, minor modifications to the alignments of water distribution pipelines would be needed to connect these injection wells to the ATF complex. However, similar to the proposed Project, water distribution pipeline alignments would generally be located in the Coastal Dunes RV Park and Campground, SR 1, public roadway rights-of- way, Oceano County Airport, the SSLOCSD WWTP property, and the properties that contain the injection wells. Alternative 4 would result in generally similar environmental impacts as the proposed Project because the nature of the project components would remain the same and project components would be constructed in the same or similar locations. However, Alternative 4 would result in potentially greater impacts than the proposed Project related to biological resources and cultural resources due to proximity to potential special status species habitat associated with Meadow Creek and several known archaeological resources in the vicinity of Pismo State Beach Corp Yard, which may require additional mitigation measures to reduce impacts to a less-than-significant level. Furthermore, Alternative 4 would not avoid the Project's significant and unavoidable construction noise and land use RESOLUTION NO. 5066 PAGE 27 impacts associated with 24-hour well drilling activities for the injection, monitoring, and production wells because construction of the injection, monitoring, and production wells in close proximity to residential land uses would still be required. As a result, construction noise and land use impacts under Alternative 4 would remain significant and unavoidable. Although Alternative 4 would attain the basic project objectives, it is rejected as infeasible because this alternative would result in similar or greater environmental impacts than the proposed Project. Alternative 5: Increased State Water Project Allocation Under this alternative, the Northern Cities Management Area (NCMA) agencies would seek increased State Water Project (SWP) allocations rather than implementing the proposed Project. The purpose of this alternative is to address, in part, comments received during the scoping period requesting analysis of alternative water supply options. To achieve an equivalent amount of water supply as the proposed Project, an additional 3,566 acre-feet per year of SWP allocations would need to be secured. The full volume of secondary treated effluent from the Pismo Beach and SSLOCSD WWTPs would continue to be discharged to the ocean via the outfall pipeline. No seawater intrusion barrier would be developed, and no additional recharge of the SMGB would occur. In addition, no recycled water would be provided for agricultural irrigation. To secure new or additional entitlements, NCMA agencies would need to negotiate with San Luis Obispo Flood Control and Water Conservation District, the County of Santa Barbara, and the Central Coast Water Authority. Furthermore, additional capacity would need to be available at the Polonio Pass Water Treatment Plant and in the Central Coast Water Authority Coastal Branch and Lopez pipelines for treatment and delivery of the additional SWP water. Of the alternatives that are not the No Project alternative, Alternative 5 is the environmentally superior alternative, primarily because this alternative does not require the physical construction of any new infrastructure. This alternative would avoid the Project's significant and unavoidable construction noise and land use impacts and lessen the significant but mitigable impacts of the proposed Project on air quality, biological resources, cultural resources, environmental justice, hazards and hazardous materials, hydrology and water quality, operational noise, and transportation/traffic. However, this alternative may increase impacts related to energy and GHG emissions as compared to the proposed Project because the energy intensity of SWP water is potentially greater than that of recycled water and use of additional SWP water is not consistent with the goals of the State's 2017 Climate Change Scoping Plan. In addition, Alternative 5 is rejected as infeasible because it would not achieve the stated Project objectives and would not result in the Project's important beneficial impacts of augmenting groundwater supply; creating a sustainable, drought-resistant local water supply for southern San Luis Obispo County; providing a new source of recharge to the SMGB to protect the basin from degradation via seawater intrusion; and reducing wastewater discharges to the ocean. Furthermore, this alternative would be dependent RESOLUTION NO. 5066 PAGE 28 on the completion of successful negotiations with San Luis Obispo County Flood Control and Water Conservation District, Central Coast Water Authority, and the County of Santa Barbara, which are not guaranteed to result in increased SWP allocations for NCMA agencies. As discussed later in the Statement of Overriding Considerations, the City finds the Project's significant and unavoidable impacts to be acceptable and preferable to Alternative 5 because Alternative 5 would not achieve the City's stated Project objectives or local, regional, and State water supply, reliability, and resiliency objectives to the same extent as the proposed Project. Alternative 6: Increased Storage of Lopez Reservoir Under this alternative, the spillway elevation of the Lopez Dam would be raised to increase the yield of the Lopez Reservoir rather than implementing the proposed Project. The purpose of this alternative is to address, in part, comments received during the scoping period requesting analysis of alternative water supply options. Raising the spillway of Lopez Dam by twelve feet would increase additional long-term yield, which would correlate to a greater entitlement of the water supply that can be distributed to NCMA agencies. However, the estimated water supply yield from this alternative would not be sufficient to provide an equivalent amount of water supply (i.e., 3,566 AFY) as the proposed Project; therefore, this alternative would need to be implemented in conjunction with additional water supply alternatives, such as Alternative 5 or water conservation measures, in order to provide an equivalent amount of water supply as the proposed Project. The feasibility of this alternative would be limited by precipitation and drought conditions, which constrain the amount of water captured by the Lopez Reservoir each year. The existing spillway has not been used since 1998 due to low precipitation and extended drought conditions;therefore, although this alternative could provide up to 1,005 acre-feet of water, the actual amount would vary based on year-to-year conditions. Under this alternative, the full volume of secondary treated effluent from the Pismo Beach and SSLOCSD WWTPs would continue to be discharged to the ocean via the outfall pipeline. No seawater intrusion barrier would be developed, and no additional recharge of the SMGB would occur. In addition, no recycled water would be provided for agricultural irrigation. Alternative 6 would eliminate the Project's significant and unavoidable construction noise and land use impacts and also lessen the Project's significant but mitigable impacts related to environmental justice, hydrology and water quality, and noise. However, this alternative would potentially result in greater environmental impacts to air quality, cultural resources, and GHG emissions than the proposed Project due to a greater intensity of construction activities, the potential submersion and/or destruction of historical and archaeological resources, and inconsistency with the State's 2017 Climate Change Scoping Plan. Alternative 6 is rejected as infeasible because it would not achieve the Project objectives and would not result in the Project's important beneficial impacts of augmenting groundwater supply; creating a sustainable, drought-resistant local water supply for southern San Luis Obispo County; providing a new source of recharge to the SMGB to RESOLUTION NO. 5066 PAGE 29 protect the basin from degradation via seawater intrusion; and reducing wastewater discharges to the ocean. Furthermore, this alternative would present significantly greater regulatory and permitting challenges associated with modifications to the Lopez Dam as compared to the proposed Project. As discussed later in the Statement of Overriding Considerations, the City finds the Project's significant and unavoidable impacts to be acceptable and preferable to Alternative 6 because Alternative 6 would not achieve the City's Project objectives or local, regional, and State water supply, reliability, and resiliency objectives to the same extent as the proposed Project. VII. STATEMENT OF OVERRIDING CONSIDERATIONS FOR SIGNIFICANT AND UNAVOIDABLE IMPACTS In approving the Central Coast Blue Project, which is evaluated in the Certified Final EIR, the City Council makes the following Statement of Overriding Considerations in support of its findings on the Certified Final EIR. After review of the entire administrative record, the City Council finds that specific economic, legal, social, technological, and other anticipated benefits of the Project outweigh its significant and unavoidable adverse environmental impacts and therefore justify the approval of the Project (i.e., the full execution of the Operating Agreement by the City of Pismo Beach, acting as the Lead Agency, the City of Arroyo Grande, acting as a Responsible Agency, along with the Investor, Member, or Partner Agencies, to undertake the Central Coast Blue Project). The City Council finds that the Project has eliminated or substantially lessened all significant effects on the environment where feasible, and finds that, on balance, the remaining significant and unavoidable impacts of the project are acceptable because the benefits of the project outweigh them. The City Council finds that each of the overriding considerations set forth below constitutes a separate and independent ground for such a finding. Significant and Unavoidable Environmental Effects The Project will result in significant and unavoidable impacts to noise and land use, as set forth under Findings Associated with Significant Impacts that Cannot Feasibly Be Mitigated to a Less-than-Significant Level. The City Council has balanced these significant unavoidable impacts of the Project against the Project's benefits and, based on the entire record before it, hereby determines that the identified impacts are acceptable. Significant Irreversible Environmental Effects CEQA Guidelines Section 15126.2(d) requires a discussion of any significant irreversible environmental changes that would be caused by the Project should it be implemented. Such significant irreversible environmental changes may include the following: • Use of non-renewable resources during the initial and continued phases of the project that would be irreversible because a large commitment of such resources makes removal or non-use unlikely. RESOLUTION NO. 5066 PAGE 30 • Primary impacts and, particularly secondary impacts (such as highway improvements that provide access to a previously inaccessible area)that generally commit future generations to similar uses. • Irreversible damage which may result from environmental accidents associated with the project. As discussed in Section 6, Other CEQA Required Discussions, of the Certified Final EIR, construction of the Project would require the use of building materials and energy, some of which are non-renewable resources. Consumption of these resources would occur with any development projects in the region and are not unique to the Project. Operation of the Project would irreversibly increase local demand for non-renewable energy resources such as petroleum and natural gas for vehicle fuels, space heating, and generation of electricity. Increasingly efficient building fixtures and automobile engines as well as implementation of the State Renewable Portfolio Standard are expected to offset the demand to some degree. It is not anticipated that the Project would significantly affect local or regional energy supplies. Section 4.4, Energy, of the Certified Final EIR includes a full analysis of potential impacts related to energy resources by construction and operation of the proposed project. The Project would incrementally contribute local traffic, increase ambient noise levels, and generate regional air pollutant and GHG emissions throughout the duration of Project operation. These topics are discussed in Section 4.1, Air Quality, Section 4.6, Greenhouse Gas Emissions, Section 4.10, Noise, and Section 4.11, Transportation/Traffic, of the Certified Final EIR. However, these impacts would be less than significant with implementation of Mitigation Measures GHG-2 and N-2. As discussed in Section 4.6, Hazards and Hazardous Materials, of the Certified Final EIR, the Project may result in reasonably foreseeable accidental spills and/or releases of hazardous materials at the ATF complex location, and implementation of Mitigation Measure HAZ-1(b) would be required to reduce impacts to a less-than-significant level. However, given the limited quantities and nature of hazardous materials to be used during Project operation, these accidental spills and/or releases would not result in irreversible environmental damage. The impacts described above are further articulated under Findings Associated with Significant, Potentially Significant, and Cumulative Significant Impacts that Can Be Mitigated to a Less-than-Significant Level and Findings Associated with Significant Impacts that Cannot Feasibly Be Mitigated to a Less-than-Significant Level. The City Council has balanced these significant but mitigable irreversible impacts of the Project against the Project's benefits and, based on the entire record before it, hereby determines that the identified impacts are acceptable. Specific Findings Project Benefits Outweigh Unavoidable Impacts RESOLUTION NO. 5066 PAGE 31 The City Council hereby finds that the remaining significant and unavoidable impacts of the Project are acceptable in light of the following substantial benefits of the Project, which constitute the specific economic, legal, social, technological and other considerations that justify the approval of the Project. 1. Improves Local Water Supply Reliability and Resiliency for NCMA Agencies The Project is a water infrastructure project that would significantly improve water supply reliability; create a sustainable, drought-resistant local water supply for southern San Luis Obispo County; and provide a new source of recharge to the SMGB to protect the basin from degradation via seawater intrusion. Implementation of the Project would allow the NCMA agencies to increase groundwater pumping levels (within their respective pumping limitations established in the SMGB Adjudication Judgment) as compared to recent years during which they have voluntarily decreased groundwater pumping below their respective allocations in response to the 2009 groundwater monitoring event that indicated incipient seawater intrusion.4 Because the Project would develop a seawater intrusion barrier, the Project would improve local water supply reliability and resiliency by protecting the existing groundwater supply for continued use by NCMA agencies as a reliable source of potable water. In doing so, the Project would have a beneficial impact on groundwater levels and supplies and would further the City's goal to develop a reliable source of clean water that is available and protected at all times (Principle P-5 of the Conservation/Open Space Element of the General Plan). The Project would also further the goals of the State's 2017 Climate Change Scoping Plan to 1) develop more reliable water supplies through a more resilient, diversified, sustainably managed water sources system and 2) reuse water more efficiently through water recycling and reuse to help meet future water demands and adapt to climate change.5 2. Supports Planned Population Growth The Urban Water Management Plans for the Cities of Pismo Beach, Grover Beach, and Arroyo Grande all anticipate full use of each city's groundwater allocation in calculating the supply sources available to meet projected water demand in normal year, single dry year, and multiple dry year scenarios. However, in recent years, the NCMA agencies have voluntarily decreased groundwater pumping below their respective allocations in response to the 2009 groundwater monitoring event that indicated incipient seawater intrusion.6 As discussed above, implementation of the Project would allow the NCMA agencies to increase groundwater pumping levels (within their respective pumping limitations established in the SMGB Adjudication Judgment). As a result, the Project would support NCMA agencies in meeting 4 GSI Water Solutions. 2020. Northern Cities Management Area 2019 Annual Monitoring Report. April 23, 2020.Available at: https://oceanocsd.orq/wp-contenUuploads/bsk-pdf-manager/2020/05/NCMA-2019- Annual-Report Final.pdf 5 California Air Resources Board. 2017. California's 2017 Climate Change Scoping Plan. November 2017. Available at: https://ww2.arb.ca.gov/sites/default/files/classic//cc/scopingplan/scoping plan 2017.pdf 6 GSI Water Solutions. 2020. Northern Cities Management Area 2019 Annual Monitoring Report. April 23, 2020. RESOLUTION NO. 5066 PAGE 32 demand generated by the existing population, activities, and land uses in the Project area and would be consistent with water planning policies and projections for the NCMA, particularly in light of California's ongoing challenges with cyclical drought conditions. The Project would also be consistent with the City's policies to investigate and pursue additional alternative water sources to increase existing supply and support development envisioned by the General Plan (Policies F-36 and F-41 of the Facilities Element of the General Plan). 3. Reduces Wastewater Discharges to the Pacific Ocean Under existing conditions, the City of Pismo Beach and SSLOCSD WWTPs discharge all secondary treated effluent to the Pacific Ocean via the existing ocean outfall pipeline. Under the Project, this secondary treated effluent would be conveyed to the ATF complex, where it would be further treated for beneficial reuse via indirect potable reuse through groundwater injection as well as potentially agricultural irrigation. Although approximately 10 to 30 percent of water treated by the ATF complex would be discharged via the existing ocean outfall as reverse osmosis concentrate, the Project would beneficially reuse approximately 70 to 90 percent of the secondary treated effluent from the WWTPs, which would greatly reduce the amount of secondary treated effluent discharged to the ocean. As such, the Project would beneficially utilize locally-produced secondary treated effluent, which would otherwise be lost to the ocean, to augment local potable water supplies. The Project would include developing a reliable source of clean water that is available and protected at all times. In addition, the Project would advance the goals of the State Water Resources Control Board's Water Quality Control Policy for Recycled Water to 1) increase the use of recycled water to 2.5 million acre-feet per year by 2030; 2) reuse all dry weather direct discharges of treated wastewater to enclosed bays, estuaries and coastal lagoons, and ocean waters that can be viably put to a beneficial use;7 and 3) maximize the use of recycled water in areas where groundwater supplies are in a state of overdraft.8 4. Project is Funded by Grants and Low Interest Financing The current cost estimate for Phase 1 of the Project is $43.5 million. The Project has applied for and/or received both state and federal grant funds and could receive approximately$35.4 million in grant funding. As of spring 2020, the Project has received $2 million from the State's Proposition 1 Groundwater Grant Program and $796,094 from the United States Bureau of Reclamation's WaterSMART program. The Project also plans to apply for the next round of funding through both programs. In total, the Project could receive grants for up to 50 percent of the For the purpose of this goal, treated wastewater does not include discharges necessary to maintain beneficial uses and brine discharges from recycled water facilities or desalination facilities (State Water Resources Control Board 2018). 8 State Water Resources Control Board. 2018. Water Quality Control Policy for Recycled Water. December 11, 2018. Available at: https://www.waterboards.ca.gov/water issues/programs/water recvcl inq policy/policy.html RESOLUTION NO. 5066 PAGE 33 implementation costs through the Prop 1 Groundwater Grant Program (approximately $21,730,950 based on current cost estimates) and 25 percent of total program costs through the WaterSMART program (approximately $10,865,475 based on current cost estimates). The remaining $8,069,381 would be eligible for low interest financing through the State Water Resources Control Board Clean Water State Revolving Fund. Based on economic analysis done for the Project's Title XVI WaterSMART application, the Project benefits include $142 million of benefits to the local agricultural and tourism industries plus the numerous qualitative benefits to the local communities discussed earlier, including improved water supply reliability, reduced reliance on imported water, improved groundwater quality, reduced wastewater discharges to the Pacific Ocean, and efficient utilization of local water resources. Balance of Competing Goals The City Council hereby finds it is imperative to balance competing goals in approving the Project and the environmental documentation of the Project. Not every environmental concern has been fully satisfied because of the need to satisfy competing concerns to a certain extent. The City Council has chosen to accept certain environmental impacts because of the many benefits inherent in the attainment of City, regional, and State goals as described above, as well as the implementation of required mitigation measures,would balance the potential for environmental impacts to occur. The City Council hereby finds and determines that the Project and the supporting environmental documentation provide for a positive balance of the competing goals and that the economic, social and other benefits to be obtained by the Project outweigh any remaining environmental and related potential detriment of the Project. Overriding Considerations Based upon the objectives identified for the Project, the City Council has determined that the Project should be approved and that any remaining unmitigated environmental impacts attributable to the Project are outweighed by the specific economic, social and other overriding considerations as described above. The City Council has determined that any environmental detriment caused by the Project has been minimized to the extent feasible through mitigation measures identified herein, and, where not feasible, has been outweighed and counterbalanced by the significant social benefits to be generated to the City, its residents, and the region. VIII. MITIGATION MONITORING AND REPORTING PROGRAM The City Council recognizes that any approval of the Project would require concurrent approval of a Mitigation Monitoring and Reporting Program (MMRP), which ensures performance of identified mitigation measures. Such an MMRP would identify the entity responsible for monitoring and implementation, and the timing of such activities. The City RESOLUTION NO. 5066 PAGE 34 will use the MMRP to track compliance with proposed Project mitigation measures. The MMRP will remain available for public review during the compliance period. The MMRP is included as part of the Certified Final EIR, and is hereby incorporated by reference, and included as Exhibit B to this Resolution. IX. ADMINISTRATIVE RECORD The environmental analysis provided in the Draft EIR, Certified Final EIR, and the findings provided herein are based on and are supported by the following documents, materials, and other evidence, which constitute the Administrative Record for the Central Coast Blue Project: 1. The December 2019 NOP, April 2020 NOP, comments received on the NOPs, and all other public notices issued by the City in relation to the Certified Final EIR (i.e., Notice of Availability); 2. All associated references, appendices, and technical materials cited in the Draft EIR; 3. The December 2020 Final EIR, including comment letters, oral testimony, and technical materials cited in the document; 4. Minutes, transcripts, and recordings of the discussions regarding the project and hearings held by the City of Pismo Beach for the project; and 5. Staff reports associated with City Council meetings on the project and written and oral testimony submitted at these meetings. X. LOCATION AND CUSTODIAN OF RECORDS The City Clerk is the custodian of the Administrative Record. Due to the closure of City Hall as a result of the ongoing COVID-19 pandemic, the documents and materials that constitute the administrative record are available for review online at https://centralcoastblue.com/recent-updates/. XI. FILING NOTICE OF DETERMINATION The City Council hereby directs the City Clerk to file a Notice of Determination regarding the approval of the Project within five business days of adoption of this Resolution. RESOLUTION NO. 5066 PAGE 35 EXHIBIT B MITIGATION MONITORING AND REPORTING PROGRAM Mitigation Monitoring and Reporting Program Mitigation Monitoring and Reporting Program CEQA requires that a reporting or monitoring program be adopted for the conditions of project approval that are necessary to mitigate or avoid significant effects on the environment (Public Resources Code 21081.6).This mitigation monitoring and reporting program is intended to track and ensure compliance with adopted mitigation measures during the project implementation phase. For each mitigation measure recommended in the Final Environmental Impact Report (Final EIR), specifications are made herein that identify the action required,the monitoring that must occur,and the agency or department responsible for oversight. Mitigation Monitoring and Reporting Program A-1 City of Arroyo Grande Central Coast Blue Project Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments Air Quality y, rfr 3. Q'`� .rJtBt ldYa"f it jo>'If IL lffii11 5`1 IStn1 t } a x' `t 7 a#a The following mitigation measures 1 Include standard 1. Prior to start of 1. Oncefor each City of Pismo shall be implemented duringPhaes I and II of measures construction construction setof Beach construction activities to reduce construction- contractor specifications contractor related emissions of nitrogen oxides and specifications reactive organic gases: 2. Field verify compliance with 2. During all 2. Periodically • Maintain all construction equipment in standard control measures construction proper tune according to manufacturer's activities specifications; • Fuel all off-road and portable diesel- powered equipment with California Air Resources Board (CARB)-certified motor vehicle diesel fuel (non-taxed version suitable for use off-road); • Use diesel construction equipment meeting the CARB's Tier 2 certified engines or cleaner off-road heavy-duty diesel engines, and comply with the State Off- Road Regulation; • Use on-road heavy-duty trucks that meet the CARB's 2007 or cleaner certification standard for on-road heavy-duty diesel engines, and comply with the State On- Road Regulation; • Construction or trucking companies with fleets that do not have engines in their fleet that meet the engine standards identified in the above two measures(e.g., captive or NOX exempt area fleets)may be eligible by proving alternative compliance; • All on-and off-road diesel equipment shall not idle for more than five minutes in accordance with California Code of Regulations Title 13, Section 2485 and Section 2449(d)(3) of the CARB's In-Use Off-Road Diesel Regulation. Signs shall be posted in the designated queuing areas A-2 Mitigation Monitoring and Reporting Program Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval ' . Action Required Monitoring Timing Frequency Agency Initial Date Comments and on job sites to remind drivers and operators of the five-minute idling limit; " Electric-powered equipment shall be used when feasible; ^ Gasoline-powered equipment shall be substituted in place of diesel-powered equipment,where feasible;and o Alternatively fueled construction equipment shall be used on site where feasible, such as compressed natural gas, liquefied natural gas, propane, or biodiesel. AQ-2(b):Best Available Control'Technology fet Construction Equipe;tent " The following Best Available Control 1. Include requirements for Best 1. Prior to the start 1. Once for each City of Pismo Technology for diesel-fueled construction Available Control Tecnology in of construction of set of Beach equipment shall be implemented during construction contractor each project contractor Phases I and II of construction activities to specifications component specifications reduce construction-related emissions of 2Field verify use x[Best Available Z. During all Z. Periodically nitrogen oxides and reactive organic gases: Control Technology construction " All equipment used during the building activities construction phase of the ATF complex shall be equipped with minimum Tier 3 certified engines,and air compressors,drill rigs, and generators used during injection/monitoring/production well construction shall be equipped with minimum Tier 4 Final certified engines; • Repower older off-road equipment with Tier 3 and Tier 4 engines where feasible; • Utilize heavy-duty trucks meeting the standards of the CARB's Truck and Bus Regulation for on-road heavy-duty diesel engines,which requires nearly all trucks to have 2010 or newer model year engines; and • Install California Verified Diesel Emission Control Strategies on construction equipment. Examples include, but are not Mitigation Monitoring and Reporting Program A-3 City of Arroyo Grande Central Coast Blue Project Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Y Agency Initial Date Comments limited to,diesel particulate filter systems, Purifilter Engine Control Systems, diesel retrofit systems,and Sootfilter systems. Biological Resources r}„ ita ' ..` vo a' ' X 5" k '' 81O�1(�)c California Rid Irigg+ett Pigg iiait�Yvdi�ar�te, ,. J, x Injection well, monitoring well and water 1. Review engineering plans for 1. Prior to 1. Once for each City of Pismo distribution pipeline locations and associated compliance construction of project Beach construction work areas (including staging, each project component access,and laydown)shall be sited outside of component native vegetation communities,such as arroyo 2. Include avoidance 2. Prior to 2. Once for each willow riparian.Prior to construction,the limits requirements in construction construction of set of of construction shall be clearly demarcated by contractor specifications each project contractor bright orange fencing. Areas outside of the component specifications limits of construction shall be considered 3. Field verification of fencing 3. Prior to 3. Once for environmentally sensitive, and access and installation construction of each project construction shall be restricted. each project component component 810-1(b)California ted-legged Frog'Avoidance a ' fid iViinimizatioit asr�res w The following avoidance and minimization 1. Retain a qualified biologist to 1. Within 48 hours 1. Once for City of* Pismo measures shall be implemented during project conduct a pre-construction prior to construction Beach construction and maintenance activities survey for IW-5A, IW-SB, and construction and of each requiring ground disturbance at the IW-5A,IW- MW-5A/5B/SC and water ground- project 5B, and MW-5A/5B/5C locations and water distribution pipeline locations disturbing component distribution pipeline locations within 50 feet of within 50 feet of Arroyo Grande maintenance and once for Arroyo Grande Creek: Creek and review survey results activities for IW- each instance • A qualified biologist shall survey the 5A,IW-5B,and of ground- project site no more than 48 hours before MW-SA/5B/5C disturbing the start of construction and ground- and water maintenance disturbing maintenance activities, distribution activity including but not limited to grading, pipeline locations excavation, and trenching. If a California within 50 feet of red-legged frog(CRLF)is found within the Arroyo Grande project footprint,no work shall begin,and Creek consultation with the United States Fish 2. Retain a qualified biologist to 2. During ground- 2. Daily prior to and Wildlife Service (USFWS) shall be conduct daily surveys for 1W- disturbing the start of initiated. Work shall not begin until SA, IW-5B, and MW-SA/5B/5C construction and ground- authorization is provided by the USFWS to and water distribution pipeline maintenance disturbing continue or applicable measures from a locations within 50 feet of activities for IW- construction A-4 Mitigation Monitoring and Reporting Program Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments Biological Opinion/Incidental Take Permit Arroyo Grande Creek and 5A,IW-5B,and and issued by the USFWS for the project are review survey results MW-5A/58/5C maintenance successfully implemented. and water activities ■ For construction activities occurring during distribution the wet season(October 15 and April 15), pipeline locations daily surveys shall be conducted by a within 50 feet of qualified biologist prior to the start of Arroyo Grande construction activities. If a CRLF is found Creek during the within the project footprint, work shall wet season halt,and consultation with the USFWS shall (October 15 to be initiated. Work shall not re-commence April 15) until authorization is provided by the 3. Consult with USFWS,as needed 3. As needed 3. As needed USFWS to continue or applicable measures 4. Retain a qualified biologist to 4. Prior to the start 4. Once for each from a Biological Opinion/Incidental Take conduct a training session on of construction project Permit issued by the USFWS for the project CRLF for IW-SA, IW-5B, and and ground- component are successfully implemented. MW-SA/SB/5C and water disturbing ■ Before any construction or ground- distribution pipeline locations maintenance disturbing maintenance activities begin, a within 50 feet of Arroyo Grande activities for IW- biologist shall conduct a training session Creek 5A,IW-5B,and for all construction personnel. At a MW-5A/SB/5C minimum, the training shall include a and water description of CRLF and its habitat, the distribution specific measures that are being pipeline locations implemented to avoid dispersing CRLF,and within 50 feet of the boundaries within which the project Arroyo Grande may be accomplished. Brochures, books, Creek and briefings may be used in the training 5. Include avoidance and 5. Prior to the start 5. Once for each session,provided that a qualified person is minimization measures in of ground- set of on hand to answer any questions. construction contractor disturbing contractor • All vehicles and equipment shall be in good specifications for IW-5A,IW-5B, construction and specifications working condition and free of leaks.A spill and MW-5A/5B/5C and water maintenance prevention plan shall be established in the distribution pipeline locations activities for IW- event of a leak or spill. within 50 feet of Arroyo Grande 5A,IW-5B,and ■ Work shall be restricted to daylight hours Creek, as applicable MW-5A/5B/5C to the extent feasible. If construction and water activities occur at night, a biological distribution monitor shall be present.If a CRLF is found pipeline locations within the project footprint during active within 50 feet of construction, all work shall stop, and the Arroyo Grande Creek Mitigation Monitoring and Reporting Program A-5 City of Arroyo Grande Central Coast Blue Project Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments USFWS shall be notified. Work shall not 6. Field verify compliance with 6. During ground- 6. Periodically recommence until authorization is avoidance and minimization disturbing provided by the USFWS to continue or measures construction and applicable measures from a Biological maintenance Opinion and Incidental Take Statement or activities for IW- other authorization issued by the USFWS 5A,IW-5B,and for the project are successfully MW-5A/5B/5C implemented. and water • Water shall not be impounded in a manner distribution that may attract CRLF. pipeline locations • All excavations or trenches shall be within 50 feet of covered when not actively under Arroyo Grande construction or shall contain earthen Creek ramps sufficient for CRLF to escape to 7. Retain a biological monitor for 7. During 7. Daily avoid entrapment of CRLF or other wildlife monitoring for IW-5A, IW-5B, construction and species. and MW-5A/5B/5C and water ground- ■ Herbicides shall not be used on site during distribution pipeline locations disturbing construction. within 50 feet of Arroyo Grande maintenance Creek activities for IW- ■ No pets shall be permitted on site. 5A,IW-5B,and • A biological monitor shall be present MW-SA/5B/5C during all initial ground-disturbing and water activities for construction and distribution maintenance activities, including but not pipeline locations limited to grading, excavation, and within 50 feet of trenching. If a CRLF is found within the Arroyo Grande project footprint during active Creek construction, all work shall stop, and the USFWS shall be notified. Work shall not recommence until authorization is provided by the USFWS to continue or applicable measures from a Biological Opinion and Incidental Take Statement or other authorization issued by the USFWS for the project are successfully implemented. • All construction and ground-disturbing maintenance activities (e.g., grading, excavation, and trenching) conducted at injection well, monitoring well,and water A-6 Mitigation Monitoring and Reporting Program Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments distribution pipeline locations within 50 feet of Arroyo Grande Creek shall be conducted during dry conditions(i.e.,days with less than 0.1 inch of predicted rainfall), outside of the wet season (October 15 through April 30), unless authorization is provided by the USFWS or a Biological Opinion/Incidental Take Statement issued by the USFWS for the project authorizes work during such conditions. BIO-1(c):Southwestern Pond Turde Avoidaniet;and.Minimiiatton Measures The following avoidance and minimization 1. Retain a qualified biologist to 1. Within 48 hours 1. Once for each City of Pismo measures shall be implemented during project conduct a pre-construction prior to initial instance of Beach construction and maintenance activities survey and review survey ground- ground- requiring ground disturbance at the IW-5A,IW- results disturbing disturbing 5B, and MW-5A/5B/5C locations and water construction and activities for distribution pipeline locations within 50 feet of maintenance each project Arroyo Grande Creek: activities for IW- component • A qualified biologist shall conduct a visual 5A,IW-5B,and survey of work areas within 50 feet of MW-5A/5B/SC Arroyo Grande Creek within 48 hours of and water initial ground-disturbing activities, distribution including but not limited to grading, pipeline locations excavation,and trenching,associated with within 50 feet of construction of injection wells.The survey Arroyo Grande area shall include the proposed Creek disturbance area plus a 100-foot buffer. 2. Retain a qualified biologist to 2. During ground- 2. Daily during Prior to the survey,suitable receptor sites conduct daily surveys, relocate disturbing ground- shall be identified within Arroyo Grande turtles as needed,and flag egg construction and disturbing Creek. A biologist authorized to relocate clutches as needed and review maintenance construction turtles shall be present for activities that survey results activities for IW- and require the removal of riparian habitat to SA,IW-SB,and maintenance monitor for turtles.If a turtle is observed in MW-5A/5B/5C activities the work area,the biologist shall relocate it and water out of the work area to the respective distribution receptor site. pipeline locations • For the duration of project construction within 50 feet of activities at the IW-5A, IW-5B, and MW- Mitigation Monitoring and Reporting Program A-7 City of Arroyo Grande Central Coast Blue Project Mitigation Measure! Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments s 5A/513/5C locations and water distribution Arroyo Grande pipeline locations within 50 feet of Arroyo Creek Grande Creek, daily surveys shall be 3. Include avoidance and 3. Prior to the start 3. Once for each conducted by a qualified biologist prior to minimization measures in of ground- set of the start of construction activities. If a construction contractor disturbing contractor turtle is observed in the work area, a specifications for IW-5A,IW-5B, construction and specifications biologist authorized to relocate turtles and MW-5A/5B/5C and water maintenance shall relocate it out of the work area to the distribution pipeline locations activities for IW- respective receptor site. within 50 feet of Arroyo Grande 5A,IW-5B,and • All excavations or trenches shall be Creek, as applicable MW-5A/5B/5C covered when not actively under and water construction or shall contain earthen distribution ramps sufficient for southwestern pond pipeline locations turtle to escape to avoid entrapment of within 50 feet of southwestern pond turtle or other wildlife Arroyo Grande species. Creek • In the event that a southwestern pond 4. Field verify compliance with 4. During ground- 4. Periodically turtle egg clutch is discovered during pre- avoidance and minimization disturbing construction surveys,the location shall be measures construction and surrounded with high visibility fencing maintenance under the guidance of a qualified biologist. activities for IW- The nest shall be avoided by construction 5A,IW-5B,and activities until a qualified biologist MW-5A/5B/SC determines that the clutch has hatched. and water The California Department of Fish and distribution Wildlife(CDFW)shall also be contacted to pipeline locations provide additional guidance in the event within 50 feet of that a southwestern pond turtle nest is Arroyo Grande discovered. If, during construction, a Creek southwestern pond turtle nest is discovered, construction shall cease immediately upon the discovery, and CDFW shall be notified. • To the extent feasible, construction activities shall be scheduled outside of the typical nesting season for southwestern pond turtle,which is April through August (Stebbins 2003). A-8 Mitigation Monitoring and Reporting Program Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments BlO-1(d):Monarch Butterfly Avoidance The ATF complex and associated construction 1. Retain a qualified biologist to 1. Prior to the start 1. Once City of Pismo work areas shall be sited outside of monarch conduct a monarch butterfly of construction of Beach butterfly overwintering habitat. Prior to survey and review survey the ATF complex construction and during the overwintering results period for monarchs in the region (i.e., 2. Review site plans for 2. Prior to issuance October through February), a survey shall be compliance with setback of a building 2 Once conducted at the eucalyptus grove adjacent to requirements, as applicable permit for the the ATF complex to determine if monarch ATF complex,as butterflies are utilizing the habitat for needed overwintering. If monarch butterflies are 3. Include avoidance measures in 3. Prior to the start confirmed to overwinter within the eucalyptus construction contractor of construction of 3. Once grove,the grove shall be considered ESHA,and specifications for the ATF the ATF complex, design of the ATF complex shall be modified to complex,as applicable as needed incorporate the appropriate setbacks included 4. Field verify compliance with 4. During 4. Periodically in the City of Grover Beach LCP and GBMC.The avoidance measures,as needed construction of limits of construction shall be clearly demarcated by bright orange fencing in order the ATF complex, as needed to avoid work within designated setback areas. Areas outside of the limits of construction shall be considered environmentally sensitive, and access and construction shall be restricted. If butterflies are present, all construction adjacent to overwintering habitat shall be conducted outside the overwintering season (i.e., October to February), if feasible. However, if construction must occur during this time period, construction may only commence if a City-approved monarch butterfly expert determines that the construction activities would not adversely impact foraging, roosting, or other behaviors of the species. BIO 1(e):Nesting Bird Avoidance and Minimization Measures The following avoidance and minimization 1. Retain a qualified biologist to 1. Within 14 days 1. Once for each City of Pismo measures shall be implemented during project conduct a preconstruction prior to initial project Beach construction activities: nesting bird survey and review disturbances in component survey results the construction work area for Mitigation Monitoring and Reporting Program A-9 City of Arroyo Grande Central Coast Blue Project Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments ■ Initial site disturbance shall occur outside each project the general avian nesting season(February component 1 through August 31),if feasible. 2. Field verify compliance with 2. During initial site 2. Weekly,as • If initial site disturbance occurs in a work any avoidance requirements,as disturbance needed area within the general avian nesting needed activities,as season indicated above, a qualified needed,until biologist shall conduct a preconstruction nests are inactive nesting bird survey no more than 14 days prior to initial disturbances in the work area.The survey shall include the entire area of disturbance area plus a 50-foot buffer (relevant to non-raptor species) and 300-foot buffer(relevant to raptors) around the site. If active nests are located, all construction work should be conducted outside a buffer zone from the nest to be determined by the qualified biologist. The buffer should be a minimum of 50 feet for non-raptor bird species and at least 300 feet for raptor species. Larger buffers may be required and/or smaller buffers may be established depending upon the species, status of the nest, and construction activities occurring in the vicinity of the nest.The buffer area(s)should be closed to all construction personnel and equipment until the adults and young are no longer reliant on the nest site. A qualified biologist should confirm that breeding/nesting is completed and young have fledged the nest prior to removal of the buffer. If a white-tailed kite nest is detected during the nesting bird survey no work shall begin until the CDFW is consulted to confirm that implementation of the project and avoidance buffers are sufficient to avoid "take". A-10 Mitigation Monitoring and Reporting Program Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments ■ If construction activities in a given work area cease for more than 14 days, additional surveys shall be conducted for the work area. If active nests are located, the aforementioned buffer zone measures shall be implemented. B10-1(f):Biological Resources Assessment Once locations are determined for the project 1. Retain a qualified biologist to 1. Upon selection of 1. Once for each City of Pismo components with unknown locations(i.e.,new conduct a BRA or similar type locations of new project Beach production well and agricultural irrigation study and review the study production well component pipelines),a qualified biologist shall conduct a and agricultural biological resources assessment (BRA) or irrigation similar type of study to document the existing pipelines biological resources within the project 2. Conduct further technical 2. Upon completion 2. Once for each footprint of these components plus a buffer studies and/or consultations of the BRA project and to determine the potential impacts to and incorporate Mitigation component those resources. The BRA shall evaluate the Measures BIO-1(g) through potential for impacts to all biological resources BIO-1(k) in the design and including, but not limited to special status construction of the new species, nesting birds, wildlife movement, production well and sensitive plant communities/critical habitat, agricultural irrigation pipelines, potentially jurisdictional features, and other as applicable resources judged to be sensitive by local,state, and/or federal agencies.Pending the results of the BRA, design alterations,further technical studies (i.e. protocol surveys) and/or consultations with the USFWS, CDFW and/or other local,state,and federal agencies may be required. Mitigation Measures BIO-1(g) through BIO-1(k)shall be incorporated,only as applicable, into the BRA for projects where specific resources are present or may be present and impacted by the project.Note that specific surveys described in the mitigation measures below may be completed as part of the BRA where suitable habitat is present. Mitigation Monitoring and Reporting Program A-11 City of Arroyo Grande Central Coast Blue Project Mitigation Measure) Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments BI0- jg)e Speelat Status'ptarit Spect p project-specific BRA Retain a qualified biologist to Seasonally timed Once for If completion of the each City of Pismo (Mitigation Measure BIO-1[f])determines that conduct special status plant within two years project component Beach special status plant species may occur on site, surveys and review results prior to vegetation surveys for special status plants shall be removal,grubbing,or completed prior to any vegetation removal, other construction grubbing, or other construction activity activity associated (including staging and mobilization). The with the new surveys shall be floristic in nature and shall be production well and seasonally timed to coincide with the target agricultural irrigation species identified in the project-specific BRA. pipelines All plant surveys shall be conducted by a qualified biologist approved by the City no more than two years before initial ground disturbance. All special status plant species identified on site shall be mapped onto a site- specific aerial photograph and topographic map.Surveys shall be conducted in accordance with the most current protocols established by the CDFW,USFWS,and the local jurisdictions if said protocols exist. A report of the survey results shall be submitted to the City for review and approval. 81O-101):Special Status Plant Species Avoidance,Mirilat zation Mitigation If federally listed,State listed or California Rare 1. Re-design plans for new 1. Prior to final 1. Once for each City of Pismo Plant Rank 1B species are found during special production well and/or design for new project Beach status plant surveys (pursuant to Mitigation agricultural irrigation pipelines production well component Measure BIO-1[f]),then the project shall be re- to avoid impacts to special and/or designed to avoid impacting these plant status plant species, as agricultural species,if feasible.Rare plant occurrences that necessary and feasible irrigation are not within the immediate disturbance pipelines that footprint but are located within 50 feet of result in impacts disturbance limits shall have bright orange to special status protective fencing installed at least 30 feet plant species beyond their extent, or other distance as approved by a qualified biologist, to protect them from harm.If avoidance of state listed or 2. Consult with CDFW and/or 2. Prior to final 2. Once for each federally listed plants species is not feasible, USFWS,as necessary design for new project impacts shall be fully offset through production well component A-12 Mitigation Monitoring and Reporting Program Mitigation Measure/ Compliance Verification Monitoring Responsible Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments implementation of a restoration plan that and/or results in no net loss(see Mitigation Measure agricultural BIO-1(i]).Prior to the start of construction and irrigation maintenance activities that result in impacts to pipelines that listed plants, consultation with CDFW and/or result in impacts USFWS and acquisition of any required permits to special status and/or authorizations shall also be completed. plant species 13104(i):Restoration Plan for Special Status Plant Species If avoidance of state listed, federally listed, 1. Retain a qualified 1. Prior to start of 1. Once for each City of Pismo and/or non-listed CRPR 1B.1 species is not biologist/restoration ecologist construction project Beach feasible, all impacts shall be mitigated at a to prepare an HMMP activities for new component minimum ratio of 2:1 (number of production well acres/individuals restored to number of and/or acres/individuals impacted)for each species as agricultural a component of habitat restoration. The irrigation restoration plan shall include, at a minimum, pipelines that the following components: would impact ■ Description of the project/impact site(i.e., special status location, responsible parties, areas to be plant species impacted by habitat type) 2. Review HMMP for compliance 2. Prior to start of 2. Once for each • Goal(s) of the compensatory mitigation with mitigation requirements construction project project(type[s]and area[s]of habitat to be and approve HMMP activities for new component established, restored, enhanced, and/or production well preserved;specific functions and values of and/or habitat type[s]to be established,restored, agricultural enhanced,and/or preserved) irrigation • Description of the proposed compensatory pipelines that mitigation site (location and size, would impact ownership status, existing functions and special status values) plant species • Implementation plan for the compensatory 3. Review quarterly and annual 3. After completion 3. Quarterly for mitigation site (rationale for expecting monitoring reports of restoration the first year of installation monitoring and implementation success, responsible annually for parties, schedule, site preparation, planting plan[including species to be used, the next four container sizes,seeding rates,etc.]) years • Maintenance activities during the monitoring period,including weed removal Mitigation Monitoring and Reporting Program A-13 City of Arroyo Grande Central Coast Blue Project Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments and irrigation as appropriate (activities, responsible parties,schedule) • Monitoring plan for the compensatory mitigation site, including no less than quarterly monitoring for the first year, along with performance standards,target functions and values,target acreages to be established, restored, enhanced, and/or preserved,and annual monitoring reports for a minimum of five years at which time the City shall demonstrate that performance standards/success criteria have been met • Success criteria shall be,at a minimum,at least 80 percent survival of container plants and 70 percent absolute cover by vegetation type. Absolute cover will be determined in comparison to a reference plot for native species • An adaptive management program and remedial measures to address any shortcomings in meeting success criteria • Notification of completion of compensatory mitigation • Contingency measures (e.g., initiating procedures, alternative locations for contingency compensatory mitigation, funding mechanism) B10.10):Endangered/Threatened Species Avoidance acid Mini nation ' The habitat requirements of endangered and 1. Include avoidance and 1. Prior to the start 1. Once for each City of Pismo threatened species that have the potential to minimization measures in of ground- set of Beach occur are variable throughout the project area construction contractor disturbing contractor where project components with unknown specifications for project activities for the specifications locations may be sited. However, several components within or adjacent new production avoidance and minimization measures can be to sensitive habitat that may well and/or applied for a variety of species to reduce the support threatened or agricultural potential for impacts such that no net loss of endangered species irrigation the species occurs. The following measures pipelines shall be applied to aquatic and/or terrestrial A-14 Mitigation Monitoring and Reporting Program Mitigation Measure/ Compliance Verification Monitoring Responsible Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments species, as determined to be appropriate by 2. Retain a qualified biologist for 2. During ground- 2. Daily and the BRA prepared under Mitigation Measure monitoring initial ground- disturbing weekly BI0-1(f): disturbance activities and construction and • Ground disturbance shall be limited to the conducting daily or weekly pre- maintenance minimum necessary to complete project activity clearance surveys for activities for the construction and maintenance.The project project activities within or new production limits of disturbance shall be flagged.Areas adjacent to sensitive habitats well and/or of special biological concern within or that may support threatened or agricultural adjacent to the limits of disturbance shall endangered species and review irrigation have highly visible orange construction survey results pipelines fencing installed between said area and the 3. Conduct water quality sampling 3. During 3. Periodically to limits of disturbance. and monitoring,as needed,and construction and establish the • All ground-disturbing construction and review results maintenance pre-project maintenance activities (e.g., grading, activities for the baseline and excavation, and trenching) occurring new production for monitoring within/adjacent to aquatic habitats well and/or during (including riparian habitats and wetlands) agricultural construction shall be completed between April 1 and irrigation October 31,if feasible,to avoid impacts to pipelines,as sensitive aquatic species. needed ■ All project activities occurring within or 4. Prepare,review,and approve a 4. Prior to the start 4. Once for each adjacent to sensitive habitats that may diversion plan, as needed, and of and during project support federal- and/or State-listed field verify compliance construction and component endangered/threatened species shall have maintenance a City-approved biologist present during all activities for the initial ground disturbing/vegetation new production clearing activities. Once initial ground well and/or disturbing/vegetation clearing activities agricultural have been completed, the biologist shall irrigation conduct daily pre-activity clearance pipelines,as surveys for endangered/threatened needed species. Alternatively, once initial ground 5. Notify CDFW and/or USFWS of 5. During 5. As needed disturbing/vegetation clearing activities occurrence of construction and are completed the biologist may conduct endangered/threatened maintenance site inspections at a minimum of once per species and of any accidental activities for the week to ensure all prescribed avoidance harm to such species, as new production and minimization measures are being fully needed well and/or implemented. agricultural irrigation Mitigation Monitoring and Reporting Program A-15 City of Arroyo Grande Central Coast Blue Project Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments ■ No endangered/threatened species shall pipelines,as be captured and relocated without express needed permission from the CDFW and/or USFWS. ■ If at any time during construction or maintenance of the project an endangered/threatened species enters the construction or maintenance site(s) or otherwise may be impacted by the project, all project activities shall cease. A City- approved biologist shall document the occurrence and the City shall notify the CDFW and/or USFWS as appropriate. ■ All vehicle maintenance/fueling/staging shall occur not less than 100 feet from any riparian habitat or water body. Suitable containment procedures shall be implemented to prevent spills.A minimum of one spill kit shall be available at each work location near riparian habitat or water bodies. • No equipment shall be permitted to enter wetted portions of any affected drainage channel, unless authorized by the USACE, RWQCB, and CDFW through issuance of permits authorizing such activities. • All equipment operating within streams shall be in good conditions and free of leaks. Spill containment shall be installed under all equipment staged within stream areas, and extra spill containment and clean up materials shall be located in close proximity for easy access. • If construction or maintenance activities could degrade water quality,water quality sampling shall be implemented to identify the pre-project baseline and to monitor during construction for comparison to the baseline. A-16 Mitigation Monitoring and Reporting Program Mitigation Measure) Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments • If water is to be diverted around work sites, a diversion plan shall be prepared for review and approval by the City prior to the start of any construction or maintenance activities (including staging and mobilization).If pumps are used,all intakes shall be completely screened with wire mesh not larger than five millimeters to prevent animals from entering the pump system. It should be noted that diversion and dewatering of creeks,rivers,lakes and ponds may require permits to be issued by the CDFW,RWQCB,USFWS and/or NMFS. • At the end of each workday, excavations shall be secured with cover or a ramp provided to prevent wildlife entrapment. • All trenches, pipes, culverts or similar structures shall be inspected for animals prior to burying,capping,moving,or filling. • The City-approved biologist shall remove invasive aquatic species such as bullfrogs and crayfish from suitable aquatic habitat whenever observed and shall dispatch them in a humane manner and dispose of properly. • If any federally and/or State protected species are harmed, the City-approved biologist shall document the circumstances that led to harm and shall determine if project construction should cease or be altered in an effort to avoid additional harm to these species. Dead or injured special status species shall be disposed of at the discretion of the CDFW and USFWS. All incidences of harm shall be reported by the City to the CDFW and USFWS within 48 hours. Mitigation Monitoring and Reporting Program A-17 City of Arroyo Grande Central Coast Blue Project Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments 810=1(k):N ori-llsiieei t BOOCIat Status filrtiaSOittisl" iiiri�r iii Mki alt i ej ,x 1 Several State Species of Special Concern may 1. Retain a qualified biologist to 1. Within 14 days 1. Once for each City of Pismo be impacted by project components with conduct pre-construction prior to the start project Beach unknown locations. The ecological clearance surveys and review of construction component requirements and potential for impacts is survey results activities for the highly variable among these species. new production Depending on the species identified in the BRA well and/or [Mitigation Measure BIO-1(f)1, several of the agricultural measures identified under Mitigation Measure irrigation BIO-1(j) shall be applicable to the project. In pipelines addition, measures shall be selected from 2. Retain a qualified biologist to 2. During 2. Daily for each among the following to reduce the potential monitor initial ground construction project for impacts to non-listed special status animal disturbing activities activities for the component species, as determined to be appropriate by new production the BRA prepared under Mitigation Measure well and/or BIO-1(f): agricultural ■ Pre-construction clearance surveys shall be irrigation conducted within 14 days prior to the start pipelines of construction (including staging and 3. Retain a qualified biologist to 3. Within 30 days 3. Once for each mobilization) in a work area.The surveys conduct presence/absence prior to the start project shall cover the entire disturbance footprint surveys for special status bats of construction component of the work area plus a minimum 200-foot and review survey results activities for the buffer, if feasible, and shall identify all new production special status animal species that may well and/or occur on site. All non-listed special status agricultural species shall be relocated from the site.A irrigation report of the pre-construction survey shall pipelines be submitted to the local jurisdiction for 4. Install exclusion devices and bat 4. Prior to the start 4. Once for each their review and approval prior to the start boxes,as needed of construction project of construction.If construction activities in activities for the component a given work area cease for more than 14 new production days,additional surveys shall be conducted well and/or for the work area,and additional reports of agricultural special status animal species shall be irrigation prepared. pipelines • A qualified biologist shall be present during all initial ground disturbing activities, including vegetation removal, to recover A-18 Mitigation Monitoring and Reporting Program Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments non-listed special status animal species unearthed by construction activities. s If special status bat species may be present and impacted by the project, a qualified biologist shall conduct presence/absence surveys for special status bats where suitable roosting habitat is present within 30 days prior to the start of construction. Surveys shall be conducted using acoustic detectors and by visually searching suitable roost trees and other areas where bats may roost. If active roosts are located, exclusion devices such as netting shall be installed to discourage bats from occupying the site.If a roost is determined by a qualified biologist to be used by a large number of bats (large hibernaculum), bat boxes shall be installed near the project site.The number of bat boxes installed will depend on the size of the hibernaculum and shall be determined through coordination with the CDFW.If a maternity colony has become established, all construction activities shall be postponed within a 500-foot buffer around the maternity colony until it is determined by a qualified biologist that the young have dispersed. Once it has been determined that the roost is clear of bats, the roost shall be removed immediately. BIO-2:Sensitive Plant and Community and Environmentally Sensitive Habitat Area Avoidance andMinimization Measures: The following avoidance and minimization 1. Retain a qualified 1. Prior to start of 1. Once for each City of Pismo measures shall be implemented during project biologist/restoration ecologist construction and project Beach construction and maintenance activities to prepare the HMMP maintenance component requiring vegetation disturbance within arroyo activities within willow habitat. arroyo willow • Temporary impact areas to arroyo willow habitat habitat shall be restored at a one to one 2. Review HMMP for compliance 2. Once for each (1:1)ratio(one acre of restoration for each with mitigation requirements project Mitigation Monitoring and Reporting Program A-19 City of Arroyo Grande Central Coast Blue Project Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments acre of impact)to offset temporary losses and approve HMMP 2. Prior to start of component in wetland, stream, or riparian function. construction and Permanent impacts shall be offset through maintenance creation,restoration,and/or enhancement activities within of in-kind habitats at a minimum ratio of arroyo willow 2:1 to mitigate unavoidable permanent habitat impacts to arroyo willow habitat.A Habitat 3. Review quarterly and annual 3. After completion 3. Quarterly for Mitigation and Monitoring Plan (HMMP) monitoring reports of restoration the first year of shall be prepared by a biologist familiar installation monitoring and with restoration and mitigation annually for techniques.The plan shall include,but not the next four be limited to the following components: years o Description of the project/impact site 4. Include avoidance and 4. Prior to start of 4. Once for each '.. (i.e.location,responsible parties,areas minimization measures in construction and set of to be impacted by habitat type); construction contractor maintenance contractor • Goal(s)of the compensatory mitigation specifications for project activities within specifications project(type[s] and area[s] of habitat components within arroyo arroyo willow to be established,restored,enhanced, willow habitat habitat and/or preserved; 5. Field verify compliance with 5. During 5. Periodically Specific functions and values of habitat avoidance and minimization construction and type(s) to be established, restored, measures maintenance enhanced,and/or preserved); activities within arroyo willow Description of the proposed habitat compensatory mitigation site(location and size, ownership status, existing functions and values of the compensatory mitigation site); • Implementation plan for the compensatory mitigation site (rationale for expecting implementation success, responsible parties, schedule, site preparation, planting plan[including plant species to be used,container sizes,seeding rates, etc.]); a Maintenance activities during the '.. monitoring period, including weed removal and irrigation as appropriate A-20 Mitigation Monitoring and Reporting Program Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments (activities, responsible parties, schedule); • Monitoring plan for the compensatory mitigation site, including no less than five years of monitoring with quarterly monitoring for the first year (performance standards, target functions and values, target acreages to be established,restored,enhanced, and/or preserved, annual monitoring reports); Success criteria based on the goals and measurable objectives; said criteria to be, at a minimum,at least 80 percent survival of container plants and 30 percent relative cover by vegetation type; • An adaptive management program and remedial measures to address negative impacts to restoration efforts; • Notification of completion of compensatory mitigation and agency confirmation;and • Contingency measures (initiating procedures, alternative locations for contingency compensatory mitigation, funding mechanism).During construction,the project shall make all reasonable efforts to limit the use of imported soils for fill. Soils currently existing on site should be used for fill material. If the use of imported fill material is necessary, the imported material shall be obtained from a source that is known to be free of invasive plant species. • During construction,the project shall make all reasonable efforts to limit the use of Mitigation Monitoring and Reporting Program A-21 City of Arroyo Grande Central Coast Blue Project Mitigation Measure) Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments imported soils for fill. Soils currently existing on site should be used for fill material.If the use of imported fill material is necessary,the imported material shall be obtained from a source that is known to be free of invasive plant species. • All equipment and vehicles must be free of weed seeds/propagules before accessing and leaving the work areas. 810 3(a):Jurisdictional Delineation Prior to final determination of the water Retain a qualified biologist to Prior to final Once City of Pismo distribution pipeline locations and associated complete a jurisdictional determination of Beach construction work areas within the Oceano delineation and review results of water distribution County Airport property, a qualified biologist jurisdictional delineation for pipeline locations shall complete a jurisdictional delineation of compliance with agency within Oceano the project site to aid in the siting of the water requirements County Airport distribution pipeline alignments as well as property other project areas. The jurisdictional delineation shall determine the extent of the jurisdiction(s)for local agencies(i.e.,the City of Grover Beach and County of San Luis Obispo), CDFW, USACE, and/or RWQCB and shall be conducted in accordance with the requirements set forth by each agency. 810-3(b):Drainages and Wetlands Drainages impact Ihlitigati�rr � - - Impacts to drainages and wetlands identified 1. Retain a qualified 1. Prior to start of 1. Once City of Pismo by the Jurisdictional Delineation (Mitigation biologist/restoration ecologist construction of Beach Measure 3(a))shall be mitigated at a minimum to prepare the HMMP water of 1:1(acre impacted:acre restored/created). distribution Restoration on the project site is preferable. pipelines in However, the City may approve off-site Oceano County restoration at a location in the same watershed Airport property as where the project impacts occur that results 2. Review HMMP for compliance 2. Prior to start of 2. Once in equal compensatory value.An HMMP shall with mitigation requirements construction of be prepared which identifies the approach for and approve HMMP water implementing the compensatory mitigation. distribution The HMMP shall be prepared by a qualified pipelines in biologist/restoration ecologist and shall outline the compensatory mitigation. As part A-22 Mitigation Monitoring and Reporting Program Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments of the HMMP, a final mitigation Oceano County implementation plan shall be submitted to and Airport property approved by the City prior to project 3. Review quarterly and annual 3. After completion 3. Quarterly for implementation.Specifically,the HMMP shall monitoring reports of restoration the first year of include the following: installation monitoring and • Description of the project/impact site(i.e. annual for the location, responsible parties, areas to be next four years impacted by habitat type); ■ Goal(s) of the compensatory mitigation project(type[s]and area[s]of habitat to be established, restored, enhanced, and/or preserved;specific functions and values of habitat type[s]to be established,restored, enhanced,and/or preserved); ■ Description of the proposed compensatory mitigation site (location and size, ownership status, existing functions and values of the compensatory mitigation site); • Implementation plan for the compensatory mitigation site (rationale for expecting implementation success, responsible parties, schedule, site preparation, planting plan[including plant species to be used,container sizes,seeding rates,etc.]); ■ Maintenance activities during the monitoring period,including weed removal and irrigation as appropriate (activities, responsible parties,schedule); • Monitoring plan for the compensatory mitigation site, including no less than five years of monitoring with quarterly monitoring for the first year(performance standards, target functions and values, target acreages to be established, restored, enhanced, and/or preserved, annual monitoring reports); • Success criteria based on the goals and measurable objectives;said criteria to be, Mitigation Monitoring and Reporting Program A-23 City of Arroyo Grande Central Coast Blue Project Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments at a minimum,at least 80 percent survival of container plants and 30 percent relative cover by vegetation type; • An adaptive management program and remedial measures to address negative impacts to restoration efforts; • Notification of completion of compensatory mitigation and agency confirmation;and • Contingency measures (initiating procedures, alternative locations for contingency compensatory mitigation, funding mechanism). B10-3(c):Drainages and Wetlands Best Management Practices During Construction For all project components the following best 1. Include best management 1. Prior to the start 1. Once for each City of Pismo management practices shall be required for practices in construction of construction of set of Beach permitted grading and construction within contractor specifications for each project contractor drainages or wetlands. In addition, the project components within 100 component specifications measures shall be required at locations where feet of drainage or wetlands construction occurs within 100 feet from 2. Field verify compliance with 2. During 2. Periodically drainages or wetlands. best management practices construction • Access routes, staging, and construction areas shall be limited to the minimum area necessary to achieve the project goal and minimize impacts to other federal and State waters, including locating access routes and ancillary construction areas outside of jurisdictional areas. • To control erosion and sediment runoff during and after project implementation, appropriate erosion control materials shall be deployed, including but not limited to straw wattles, and maintained in the vicinity of the project footprint. • Project activities within the drainages or wetlands shall occur during the dry season in any given year to the extent practicable. The dry season is typically between May 1 A-24 Mitigation Monitoring and Reporting Program Mitigation Measure/ Compliance Verification Monitoring Responsible Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments and September 30; however, this timeframe may be extended depending on year-to-year precipitation and drought conditions. • During construction, no litter or construction debris shall be placed within drainages or wetlands.All such debris and waste shall be picked up daily and properly disposed of at an appropriate site. ■ All project-generated debris, building materials, and rubbish shall be removed daily from jurisdictional areas and from areas where such materials could be washed into them. • Raw cement, concrete or washings thereof, asphalt, paint or other coating material,oil or other petroleum products, or any other substances which could be hazardous to aquatic species resulting from project-related activities, shall be prevented from contaminating the soil and/or entering drainages or wetlands. • All refueling, maintenance, and staging of equipment and vehicles shall occur at least 100 feet from drainages and wetlands and in a location where a potential spill would not drain directly toward aquatic habitat (e.g.,on a slope that drains away from the water source). Prior to the onset of work activities, a plan must be in place for prompt and effective response to any accidental spills. All workers shall be informed of the importance of preventing spills and of the appropriate measures to take should an accidental spill occur. ■ If installation of the agricultural irrigation pipelines requires the crossing of Arroyo Grande Creek,a Frac-Out Contingency Plan shall be prepared and,and in the event of Mitigation Monitoring and Reporting Program A-25 City of Arroyo Grande Central Coast Blue Project Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments frac-out,it shall be implemented.The Frac Out Contingency Plan shall include the following: n The purpose of the contingency plan; n Preventative measures to minimize the likelihood of a frac-out; • The planning and design of the augur boring or horizontal directional drilling; c Pre-construction requirements;and c Contingency response to contain and remove drilling fluids and closeout procedures.The contingency response shall include general guidelines with all equipment required, guidelines for terrestrial frac-outs along the banks and riparian corridor of Arroyo Grande Creek,guidelines for aquatic frac-outs within Arroyo Grande Creek,and bore abandonment. BIO-S: Tree inventory,Protection,andReplacement A Tree Preservation Plan shall be prepared by 1. Retain certified arborist to 1. Prior to the start 1. Once for each City of Pismo a certified arborist to inventory native trees prepare Tree Preservation Plan of construction of project Beach that would be trimmed or removed by each project component construction. Native trees shall be avoided to component the maximum extent feasible. The plan shall 2. Review Tree Preservation Plan 2. Prior to the start 2. Once for each include, but would not be limited to, an of construction of project inventory of trees within the construction site each project component plus a 50-foot buffer zone, requirements for component setbacks from trees and protective fencing, 3. Include tree protection and 3. Prior to the start 3. Once for each restrictions regarding grading and paving near replacement measures in of construction of set of trees, and direction regarding pruning and construction contractor each project contractor digging within root zone of trees.If removal of specifications,as applicable component specifications native trees is required, the trees shall be 4. Field verify compliance with 4. During 4. Periodically replaced consistent with the requirements of tree protection and construction of and at the end the local agency which has jurisdiction as well replacement measures each project of construction as the associated tree removal permit that may component of each project be issued. component A-26 Mitigation Monitoring and Reporting Program Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments Prior to the onset of construction activities, highly visible orange construction fencing shall be installed around existing stands and individuals identified in the Tree Preservation Plan to be retained at a buffer/extent radius of six feet beyond the canopy dripline,wherever feasible, or otherwise marked in the field to protect them from harm during implementation of the proposed project. Cultural Resoles 'r CR-2(a):Worker's Environmental Awareness Program A qualified archaeologist shall be retained to Retain a qualified archaeologist to Prior to ground- Once for each City of Pismo conduct a Worker's Environmental Awareness conduct a Worker's Environmental disturbing activities project component Beach Program training on archaeological sensitivity Awareness Program training for for each project for all construction personnel prior to the each project component and component commencement of any ground-disturbing review documentation of training activities.The training should be conducted by an archaeologist who meets or exceeds the Secretary of Interior's Professional Qualification Standards for archaeology (National Park Service 1983). Archaeological sensitivity training should include a description of the types of cultural material that may be encountered, cultural sensitivity issues, the regulatory environment, and the proper protocol for treatment of the materials in the event of a find. CR-2(b):Archaeological and Native American Monitoring During initial ground disturbance for the 1. Retain qualified archaeologist 1. Prior to ground- 1. Daily for initial City of Pismo project, a qualified archaeologist and locally and Native American monitor disturbing ground Beach affiliated Native American monitor shall to conduct daily construction activities for each disturbance for monitor construction activities within the monitoring project each project project area. Initial ground disturbance is component component defined as disturbance within previously undisturbed native soils. A cultural resources 2. Review and approve cultural 2. Prior to ground- 2. Once for each monitoring plan shall be completed prior to resources monitoring plan disturbing project the commencement of monitoring, which activities for each component outlines monitoring procedures, stop work authorities,and procedures to be taken in the Mitigation Monitoring and Reporting Program A-27 City of Arroyo Grande Central Coast Blue Project Mitigation Measure) Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments event of a find.The monitoring plan shall also project provide a monitoring form template to be component completed by the monitors for each 3. Review monitoring forms 3. During initial 3. Weekly monitoring day. If, during initial ground ground disturbance, the qualified archaeologist disturbance for determines that the construction activities each project have little or no potential to impact cultural component resources (e.g., excavations are within previously disturbed, non-native soils, or within a soil formation not expected to yield cultural resources deposits), the qualified archaeologist may recommend that monitoring be reduced or eliminated. If cultural resources are identified during initial monitoring, work in the immediate vicinity shall halt until the resource has been evaluated for significance. CR=2(t):Unanticipated Discovery of Cultural Resoi*ces If cultural resources are encountered during 1. Retain an archaeologist 1. During ground- 1. As needed City of Pismo ground-disturbing activities, work in the meeting the Secretary of disturbing Beach immediate area must halt and an archaeologist Interior's Professional activities for each meeting the Secretary of the Interior's Qualifications Standards, if project Professional Qualification Standards for needed component,as archaeology(National Park Service 1983)shall needed be contacted immediately to evaluate the find. 2. Field verify required evaluation 2. During ground- 2. As needed Should cultural resources be discovered during of the identified resource disturbing excavation, additional studies including data activities for each recovery efforts may be needed to reduce project project impacts and/or consultation with local component,if tribes and the City,acting as lead agency,may cultural resource be necessary to mitigate any significant is identified impacts/adverse effects. 3. If avoidance is infeasible, 3. During ground- 3. As needed prepare plan to reduce impacts disturbing to less than significant and activities for each conduct required consultation, project if needed component,if cultural resource is identified A-28 Mitigation Monitoring and Reporting Program Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments CR-2(d):Archaeological Resource Studies Prior to initial construction activities for the 1. Retain qualified archaeologist 1. Prior to issuance 1. Once for new City of Pismo new production well and agricultural irrigation to prepare Phase I Cultural of construction production well Beach pipelines, a Phase I Cultural Resources Study Resources Study permit for new and agricultural shall be conducted for each project component production well irrigation by a qualified archaeologist meeting the and agricultural pipelines Secretary of the Interior's standards in irrigation archaeology.The Phase I study shall include a pipelines pedestrian survey of the project site to identify 2. Incorporate all feasible 2. Prior to issuance 2. During potential surficial archaeological resources and recommendations for of construction construction, sufficient background archival research and mitigation of any identified permit for new as needed,for field sampling to determine whether impacts production well new subsurface prehistoric or historic remains may and agricultural production well be present. Archival research should include, irrigation and agricultural at minimum,a records search conducted at the pipelines irrigation Central Coast Information Center and a Sacred pipelines Lands File search conducted with the Native American Heritage Commission. Any cultural resources so identified shall be avoided and preserved in place, if feasible. Where preservation in place is not feasible, each resource shall be evaluated for significance and eligibility for listing in the CRHR through the implementation of a Phase II evaluation program.Phase II evaluation shall include any necessary archival research to identify significant historical associations as well as mapping of surface artifacts,collection of functionally or temporally diagnostic tools and debris,and excavation of a sample of the cultural deposit to characterize the nature of the sites, define the artifact and feature contents, determine horizontal boundaries and depth below surface, and retrieve representative samples of artifacts and other remains. If the resource is found eligible for listing on the NRHP,CRHR,or local register,a Phase III data recovery program shall be conducted to mitigate the impacts to the Mitigation Monitoring and Reporting Program A-29 City of Arroyo Grande Central Coast Blue Project Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments resource if avoidance remains infeasible. A data recovery program shall include the development of a site-specific research design, testing program, laboratory analysis, and reporting with the intention of extracting data from the resource to the point of redundancy. Any excavation at Native American sites shall be monitored by a local tribal representative. Cultural materials collected from the sites shall be processed and analyzed in the laboratory according to standard archaeological procedures. The age of archaeological resources shall be determined using radiocarbon dating or other appropriate procedures;lithic artifacts,faunal remains,and other cultural materials shall be identified and analyzed according to current professional standards.The significance of the sites shall be evaluated according to the criteria of the California Register of Historic Resources. The results of the investigations shall be presented in a technical report following the standards of the California Office of Historical Preservation publication "Archaeological Resource Management Reports:Recommended Content and Format(1990 or latest edition)." Upon completion of the work, all artifacts, other cultural remains, records, photographs, and other documentation shall be curated an appropriate curation facility to be determined on a case-by-case basis in consultation with the City and interested parties (e.g., tribal organizations). If any of the resources meet CRHR significance standards,the City shall ensure that all feasible recommendations for mitigation of impacts are incorporated into the final project design. Any necessary archaeological data recovery excavation shall be carried out by a Registered Professional Archaeologist according to a A-30 Mitigation Monitoring and Reporting Program Mitigation Measure/ Compliance Verification Monitoring Responsible Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments research design reviewed and approved by the City, as the lead agency, and prepared in advance of fieldwork and using appropriate archaeological field and laboratory methods consistent with the California Office of Historic Preservation Planning Bulletin 5 (1991), Guidelines for Archaeological Research Design, or the latest edition thereof. As applicable, the final Phase I Inventory, Phase II Testing and Evaluation, and Phase III Data Recovery reports shall be submitted to the City and the applicable land use permitting agency prior to final inspection of a construction permit. Recommendations contained therein, including, at minimum, requirements to follow for unanticipated archaeological discoveries during construction, shall be implemented throughout all ground disturbance activities. E=1:Energy Efficiency and Renewable Energy Measures The proposed project shall implement the Review site plans for the ATF Prior to the issuance Once City of Pismo following energy efficiency and renewable complex to verify compliance of a building permit Beach energy measures: ■ The advanced treatment facility (ATF) building shall incorporate LEED Silver design standards, such as outdoor and indoor water-efficiency features, energy- efficiency and conservation features, energy metering, demand response technologies and programs, and renewable energy systems,where feasible. ■ The orientation of the ATF building shall be designed to accomplish the following to the maximum extent practicable: • Maximize passive solar heating during cool seasons • Avoid solar heat gain in warm seasons Mitigation Monitoring and Reporting Program A-31 City of Arroyo Grande Central Coast Blue Project Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments • Enhance natural ventilation and effective use of daylight • Maximize opportunities for the installation of solar panels • Facilitate the use of sunlight for direct heating and illumination whenever possible • Take advantage of natural ventilation and shading to cool a building. ■ The ATF building shall use exterior shading devices, skylights, daylighting controls, high performance glazing that allows the transmission of light with minimal heat gain,and high thermal mass building components to the extent feasible. r nhouse'Gas Ernisst ons GHG 2:GHG'Emission ttedui ion Measures `' proposed g project shall implement the Review site pns for the ATF Prior to the issuance Once City of P The ro osed Pismo followinggreenhouse as emission reduction complex to verifycompliance of a buildingpermit Beach measures, as identified in the City's Climate for the ATF complex Action Plan: • The ATF complex shall include a solar photovoltaic system. • The ATF complex shall include recycling receptacles. Haze'd and Hazardous Materials .,, .. ?a` ... ,a cheri ,ti•, 'X or+t.^s'fa�ka�C SSC d , v'� p v a Hartardousilll�tnriais�lAan�geml�nt� ���tt�r�r��r�tl��r,� �►t�o� ir� � ` Prior to the start of construction, the 1. Include requirements for 1. Prior to the start 1. Once for each City of Pismo construction contractor(s) shall prepare a HMMSPCP in construction of construction of set of Beach Hazardous Materials Management and Spill contractor specifications each project contractor Prevention and Control Plan(HMMSPCP)that component specifications includes a project-specific contingency plan for 2. Review HMMSPCP to verify 2. Prior to the start 2. Once for each hazardous materials and waste operations. compliance of construction of project The HMMSPCP shall be applicable to each project component construction activities and shall establish component policies and procedures according to A-32 Mitigation Monitoring and Reporting Program Mitigation Measure/ Compliance Verification Monitoring Responsible Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments applicable codes and regulations,including but 3. Field verify implementation of 3. During 3. Periodically not limited to the California Building and Fire HMMSPCP construction of during Codes and federal and California Division of each project construction of Occupational Safety and Health regulations,to component each project minimize risks associated with hazardous component materials spills. Elements of the HMMSPCP shall include, but would not be limited to the following: • A discussion of hazardous materials management, including delineation of hazardous material storage areas, access and egress routes,waterways,emergency assembly areas,and temporary hazardous waste storage areas; ■ Notification and documentation of procedures;and • Spill control and countermeasures, including employee spill prevention/response training. HAZ-1(b).Preparation of Hazardous Materials Business Plan ��• A Hazardous Materials Business Plan (HMBP) Prepare and review HMBP to verify Prior to the issuance Once City of Pismo shall be prepared for the ATF complex. The compliance of a certificate of Beach HMBP shall include, at a minimum, a occupancy for the hazardous materials inventory, site plan, ATF complex emergency response plan, and requirements for employee training. The HMBP shall be prepared prior to issuance of a certificate of occupancy for the ATF complex. The HMBP shall inform staff and contractors of the chemicals that may be used at the site and how to respond to potential hazardous material emergencies or exposure.Signage specified in the HMBP shall be posted at the ATF complex and at associated chemical storage areas,and a copy of the hazardous materials inventory, site plan, and emergency response plan shall be kept at each chemical storage area. The hazardous materials inventory shall be consistent with chemicals ordered during Mitigation Monitoring and Reporting Program A-33 City of Arroyo Grande Central Coast Blue Project Mitigation Measure) Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments operation and maintenance of the ATF complex. Hydrology and Water Civality H NQ 1:Init ell Qua tel y tte lloactleitf 1'eeiing,,: ° `" Initial quarterly monitoring will be conducted 1. Review results of initial 1. At the end of the 1. Once City of Pismo at the full-scale facility for the first year of quarterly monitoring first year of Beach operation to establish future monitoring operation requirements and possible additional analysis 2. If needed, field verify 2. After installation 2. Once of beta/photon emitters.If monitoring detects installation of additional of additional violations of the maximum contaminant level treatment process(es) and treatment for radioactivity specified by California Code of results of follow-up monitoring process(es),if Regulations Title 22, Division 4, Chapter 15, needed Article 5, Section 64443 occur, these exceedances shall be resolved. Potential treatment process to resolve identified exceedances would include,but would not be limited to, ion exchange, lime softening, and coagulation filtration. pNoise N-1.Consttuction Noise*eduction Meagures N `r, The following construction noise reduction 1. Include construction noise 1. Prior to the start 1. Once for each City of Pismo measures shall be implemented during project measures in construction of construction of set of Beach construction activities: contractor specifications, as each project contractor ■ Well drilling activities for IW-1,IW-2A,IW- applicable component specifications 2B, IW-3, MW-1A/1B, MW-2A/2B/2C,and 2. Coordinate with the County of 2. Prior to the start 2. Once MW-3A/38,shall be scheduled during the San Luis Obispo for temporary of construction non-peak season for the Coastal Dunes RV campsite closures Park and Campground to the extent 3. Provide non-automated 3. Prior to the start 3. Once for each practicable, as defined by the County of telephone number for local of construction project San Luis Obispo Parks and Recreation residents to submit complaints component Department. 4. Field verify compliance with 4. During 4. Periodically • Construction of individual injection, construction noise reduction construction monitoring, and production wells located measures within 0.25 mile of each other shall be 5. Prepare and review acoustical 5. Upon selection of 5. Once scheduled so as not to overlap to the analysis for new production location of new extent practicable. well production well • Construction of the water 6. Implement recommended 6. Prior to the start 6. Once distribution/agricultural irrigation construction noise reduction of construction A-34 Mitigation Monitoring and Reporting Program Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments pipelines and ATF complex shall be measures for new production scheduled so as not to overlap with well,as needed construction of the injection, monitoring, and production wells. • Noise-generating construction activities associated with IW-5A, IW-5B, and MW- 5A/5B/5C shall not occur on the same days as noise-generating construction activities for the South San Luis Obispo County Sanitation District Wastewater Redundancy Project to the extent practicable. • Whenever possible,construction activities shall be scheduled so as to avoid operating several pieces of equipment simultaneously, which causes high noise levels. • The City shall coordinate with the County of San Luis Obispo Parks and Recreation Department to temporarily close all campsites within 200 feet of IW-1,IW-2A, IW-2B, IW-3, MW-1A/1B, MW-2A/2B/2C, and MW-3A/3B for the duration of 24-hour well drilling activities. • The City shall provide temporary housing accommodation via hotel or other comparable accommodation for the duration of 24-hour well drilling activities for residents and hotel/motel guests in Grover Beach within 100 feet of construction activity and for residents and hotel/motel guests in unincorporated San Luis Obispo County within 175 feet of construction activity. • All heavy-duty stationary construction equipment shall be placed so that emitted noise is directed away from the nearest sensitive receivers. Mitigation Monitoring and Reporting Program A-35 City of Arroyo Grande Central Coast Blue Project Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments • During injection and monitoring well construction, all equipment, fixed or mobile, shall be operated with closed engine doors and shall be equipped with properly operating and maintained critical grade mufflers consistent with manufacturers'standards. • During injection and monitoring well construction,the City's contractor(s)shall use portable sound enclosures for all generators and air compressors that provide at least a 10-dBA reduction in noise levels. • During injection and monitoring well construction,the City's contractor(s)shall install temporary sound barriers of sufficient height and length to break the line-of-sight between the engines of heavy- duty equipment and nearby sensitive receivers. All temporary barriers shall be constructed of material with a minimum weight of two pounds per square foot and shall be continuous with no gaps or holes between panels or the ground. Sound blankets on individual pieces of construction equipment may also be used in place of temporary sound barriers and shall be of sufficient length to overlap each other and the ground surface.Temporary sound barriers and/or blankets shall be installed for the entire duration of the well drilling phase for each injection and monitoring well.Temporary sound barriers shall meet the following specifications for each location: • IW-1 (Well Drilling). The barrier shall be at least 13 feet in height and shall be installed along the southern and eastern edges of the construction site. The barrier shall be at least 50 feet in A-36 Mitigation Monitoring and Reporting Program Mitigation Measure/ Compliance Verification Monitoring Responsible Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments length along the southern edge and at least 100 feet in length along the eastern edge. If sound blankets are used, they shall be a minimum Sound Transmission Class(STC)rating of 9. • IW-2A and IW-28 (Well Drilling). The barrier shall be at least 13 feet in height and shall surround all active heavy- duty equipment at the construction sites. The barrier shall be at least 50 feet in length along the southern and northern edges and at least 100 feet in length along the eastern edge.If sound blankets are used, they shall be a minimum STC rating of 9. • IW-3 (Well Drilling). The barrier shall be at least 22 feet in height,surround all active heavy-duty equipment at the construction sites,and be at least 100 feet in length along the northern and southern sides and at least 50 feet in length along the western and eastern sides. If sound blankets are used,they shall be a minimum STC rating of 18. • IW-SA, IW-5B, and MW-5A/5B/5C (Well Drilling). The barrier shall be at least 13 feet in height and shall be installed along the western and northern edges of the construction sites. The barrier shall be at least 50 feet in length along the western edge and at least 100 feet in length along the northern edge. If sound blankets are used, they shall be a minimum STC rating of 8. • MW-1A/13 and MW-3A/3B (Well Drilling).The barrier shall be at least 13 feet in height, surround all active heavy-duty equipment at the Mitigation Monitoring and Reporting Program A-37 City of Arroyo Grande Central Coast Blue Project Mitigation Measure) Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Y Agency - Initial Date Comments construction sites,and be at least 100 feet in length along the southern and northern edges and at least 50 feet in length along the eastern and western edges.If sound blankets are used,they shall be a minimum STC rating of 9. • MW-1C/1D and MW-2D/2E/2F (Well Drilling).The barrier shall be at least 15 feet in height, surround all active heavy-duty equipment at the construction sites,and be at least 100 feet in length along the southern and northern edges and at least 50 feet in length along the eastern and western edges.If sound blankets are used,they shall be a minimum STC rating of 15. • MW-2A/2B/2C (Well Drilling). The barrier shall be at least 13 feet in height, surround all active heavy-duty equipment at the construction sites, and be at least 100 feet in length along the northern and southern sides and at least 50 feet in length along the western and eastern sides. If sound blankets are used, they shall be a minimum STC rating of 9. • MW-3D/3E(Well Drilling).The barrier shall be at least 12 feet in height, surround all active heavy-duty equipment at the construction sites, and be at least 50 feet in length along the southern and northern edges and at least 100 feet in length along the eastern and western edges. If sound blankets are used, they shall be a minimum STC rating of 7. ▪ MW-4C/4D(Well Drilling).The barrier shall be at least 14 feet in height, surround all active heavy-duty A-38 Mitigation Monitoring and Reporting Program Mitigation Measure/ Compliance Verification Monitoring Responsible Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments equipment at the construction sites, and be at least 100 feet in length along the northern and southern sides and at least 50 feet in length along the western and eastern sides. If sound blankets are used, they shall be a minimum STC rating of 11. MW-5D/5E/SF (Well Drilling). The barrier shall be at least 24 feet in height, surround all active heavy-duty equipment at the construction sites, and be at least 100 feet in length along the northern and southern sides and at least 50 feet in length along the western side. If sound blankets are used, they shall be a minimum STC rating of 20. • The City shall provide a non-automated telephone number for local residents to call to submit complaints associated with construction noise during all phases of construction.The City shall maintain a log of complaints and shall address complaints to minimize noise issues for neighbors. • Upon selection of the location of the new production well,an acoustical analysis shall be prepared by a qualified professional to determine the construction noise reduction measures necessary to reduce daytime exterior construction noise levels to at or below 80 dBA Leg at the nearest sensitive receivers and nighttime exterior construction noise levels to at or below 55 dBA Leq at the nearest sensitive receivers. The acoustical analysis shall only evaluate the construction noise impacts of the new production well if proposed construction activities are located within 1,620 feet of Mitigation Monitoring and Reporting Program A-39 City of Arroyo Grande Central Coast Blue Project Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments sensitive receivers,as measured from the center of the construction site. The acoustical analysis shall include the following components: • Identification of the nearest noise- sensitive receivers to the location of the new production well; • Quantitative analysis of construction noise levels for the production well at the nearest noise-sensitive receivers; and • Identification of noise reduction measures that would achieve compliance with the aforementioned exterior daytime and nighttime noise standards. These measures may include, but would not be limited to, use of mufflers, portable sound enclosures, and temporary sound barriers and/or blankets. The City or its contractor(s) shall implement all noise reduction measures identified in the acoustical analysis. N-2:Acoustical Analysis of ATF Complex Operations Upon completion of the 30 percent design for 1. Prepare and review acoustical 1. Upon completion 1. Once City of Pismo the ATF complex and selection of equipment, analysis for the ATF complex of 30 percent Beach an acoustical analysis shall be prepared to design of ATF determine whether combined operational complex noise levels from stationary noise-generating 2. Implement recommended 2. Prior to the issue 2. Once equipment, including but not limited to the noise attenuation measures for of a building pump station, heating, ventilation, and air the ATF complex,as needed permit for the conditioning equipment, and treatment ATF complex equipment, will exceed the following noise standards: • Exterior noise level limits,measured at the property line of residential land use (Grover Beach Municipal Code Section 3120.8,Table 1): A-40 Mitigation Monitoring and Reporting Program Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments a 60 dBA Lea from 7:00 a.m.to 10:00 p.m • 55 dBA Lea from 10:00 p.m.to 7:00 a.m. • Stationary equipment noise standards, measured at the property line of the receiving land use(Grover Beach Municipal Code Section 3120.10[B)(6)):1 • 60 dBA Lea from 7:00 a.m.to 10:00 p.m. at single-family residential land uses • 65 dBA Lea from 7:00 a.m.to 10:00 p.m. at multi-family residential land uses a 70 dBA Lea from 7:00 a.m.to 10:00 p.m. at mixed use residential/commercial land uses • Interior noise limits, measured at the interior of habitable rooms(i.e.,bedrooms, kitchens,living rooms,dining rooms)of the affected residential use (Grover Beach Municipal Code Section 3120.9): • 45 dBA Lea from 7:00 a.m.to 10:00 p.m. • 40 dBA Lea from 10:00 p.m.to 7:00 a.m. If operational noise levels would exceed any of the noise level limits, the acoustical analysis shall provide recommended attenuation measures to reduce operational noise levels below the standards.The City shall implement these measures at the ATF complex.Measures may include,but would not be limited to: • Siting the pump station and/or HVAC equipment away from noise-sensitive land uses • Orienting the pump station and/or ATF building such that louvers face away from noise-sensitive land uses • Installing a sound barrier (e.g., a wall, berm,or combination or both)of sufficient 1 Per GBMC Section 3120.10(B)(6),any stationary noise source that operates between the hours of 10:00 p.m.and 7:00 a.m.is required to obtain an Exception Permit. Mitigation Monitoring and Reporting Program A-41 City of Arroyo Grande Central Coast Blue Project Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments height and length to break the line of sight between noise-sensitive land uses and noise sources at the ATF complex • Screening HVAC equipment • Installing HVAC equipment on the rooftop rather than at ground-level T-1:Transportation Management Piet ' A Transportation Management Plan (TMP) 1. Prepare TMP and submit for 1. Prior to the start 1. Once for each City of Pismo shall be developed and implemented by the approval to the County of San of construction of project Beach City,South San Luis Obispo County Sanitation Luis Obispo Department of each project component District, and/or their construction Planning and Building and the component contractor(s) during construction of the City of Grover Beach proposed project. The TMP shall conform to Community Development California Department of Transportation's 2. Review preliminary report of 2. Prior to the start 2. Once for each (Caltrans) Transportation Management Plan existing roadway conditions of construction of project Guidelines and shall include but is not limited water component to: distribution ■ Construction Traffic Routes and Staging pipelines Locations: The TMP shall identify 3. Review reports of any damage 3. During 3. Once for each construction staging site locations and and associated repairs to the construction of project potential road closures, alternate routes roadway network water component for detours, and planned truck routes for distribution construction-related vehicle traffic, pipelines including but not limited to haul trucks, 4. Review documentation of 4. Prior to the start 4. Once for each material delivery trucks, and equipment coordination with emergency of construction project delivery trucks. It shall also identify services, recreation facilities, each project component alternative safe routes and policies to South County Transit, schools, component maintain safety along bicycle and Caltrans, and nearby pedestrian routes during construction. construction sites Construction traffic routes shall avoid local 5. Review documentation of 5. Prior to the start 5. Once residential streets to the maximum extent public notification of construction practicable. Staging locations, alternate each project detour routes, and construction traffic component routes shall avoid other active construction projects within 0.25 mile of the project 6. Field verify implementation of 6. During 6. Periodically construction sites to the maximum extent TMP measures construction of during practicable. each project construction of component A-42 Mitigation Monitoring and Reporting Program Mitigation Measure/ Compliance Verification Monitoring Responsible Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments • Damage Repair:The TMP shall include the each project following requirements to minimize component damage to the existing roadway network: • A list of precautionary measures to protect the existing roadway network, including but not limited to pavements, curbs,gutters,sidewalks,and drainage structures, shall be outlined. The construction contractor(s) shall be required to implement these measures throughout the duration of construction of the water distribution pipelines. • The roadway network along the proposed water distribution alignment(s)shall be surveyed prior to the start of project construction activities, and existing roadway conditions shall be summarized in a brief report. • Any damage to the roadway network that occurs as a result of project construction activities shall be noted, and the project sponsors shall repair all damage. • Coordination with Emergency Services: The TMP shall include requirements to notify local emergency response providers, including Five Cities Fire Authority,the San Luis Obispo Sheriff Department, ambulance services, and paramedic services at least one week prior to the start of work within public rights-of-way if lane and/or road closures are required.To the extent possible,the City shall minimize the duration of disruptions/closures to roadways and critical access points for emergency services. Mitigation Monitoring and Reporting Program A-43 City of Arroyo Grande Central Coast Blue Project Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments • Coordination with Recreation Facilities: The TMP shall require coordination with owners/operators of any affected recreational facilities to minimize the duration of disruptions/closures to recreational facilities, trails, and adjacent access points. • Coordination with South County Transit:If the proposed project will affect access to existing South County Transit bus stops, the TMP shall also include temporary, alternative bus stops and directional signage, as determined in coordination with South County Transit. • Coordination with Schools:The TMP shall require coordination with the Lucia Mar Unified School District in the study area to minimize construction impacts during the regular school year. • Coordinate with Caltrans:If the proposed project requires lane and/or road closures of SR 1,the TMP shall require coordination with Caltrans to ensure the TMP conforms with Caltrans' Transportation Management Plan Guidelines. • Coordination with Nearby Construction Sites: The TMP shall identify all active construction projects within 0.25 mile of project construction sites and require coordination with the applicants and/or contractors of these projects during all phases of construction regarding the following: c All temporary lane and/or roadway '... closures shall be coordinated to limit overlap of roadway closures a All major deliveries and haul truck trips shall be coordinated to limit the A-44 Mitigation Monitoring and Reporting Program Mitigation Measure/ Compliance Verification Monitoring Responsible Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments occurrence of simultaneous deliveries and haul truck trips The City, its contractor(s), or its representative(s) shall meet on a regular basis with the applicant(s), contractor(s)or their representative(s) of active construction projects within 0.25 mile of the project construction sites during construction to address any outstanding issues related to construction traffic. ■ Transportation Control and Safety: The TMP shall provide for traffic control measures including flag persons, warning signs, lights, barricades, cones, and/or detour routes to provide safe passage of vehicular, bicycle and pedestrian traffic and access by emergency responders. ■ Plan Approval:The TMP shall be submitted to County of San Luis Obispo Department of Planning and Building and the City of Grover Beach Community Development Department for review and approval. • Public Notification: Prior to the start of construction, written notice shall be provided regarding potential land and/or road closures as described in the TMP. Notice shall be delivered to potentially affected properties within a 500-foot radius of the project construction sites.The notice shall contain a brief description of the work, work dates, and contact information of the City's Planning Division. The notice shall be delivered ten calendar days prior to beginning the work and again at two working days prior to beginning the work.The notice shall be in the form of a door hanger made of index paper with a size of 14 inches by 4.5 inches.The notice Mitigation Monitoring and Reporting Program A-45 City of Arroyo Grande Central Coast Blue Project Mitigation Measure/ Monitoring Responsible Compliance Verification Condition of Approval Action Required Monitoring Timing Frequency Agency Initial Date Comments shall be printed in both in English and Spanish.A revised notice shall be delivered in the event of delays in schedule as soon as reasonably possible after a delay is identified and the revised schedule is known. IW=injection well;MW=monitoring well;dBA=A-weighted decibel;Lq=equivalent noise level A-46 OFFICIAL CERTIFICATION I, JESSICA MATSON, City Clerk of the City of Arroyo Grande, County of San Luis Obispo, State of California, do hereby certify under penalty of perjury, that the attached Resolution No. 5066 was passed and adopted at a regular meeting of the City Council of the City of Arroyo Grande on the 23rd day of March, 2021. WITNESS my hand and the Seal of the City of Arroyo Grande affixed this 30th day of March, 2021. • SSICA MATSON, CITY CLERK