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HomeMy WebLinkAboutEx59_Environmental SEPA Determination and Notice upon Reconsideration ERC Reconsideration Recommendation Memo-LUA22-000011 DEPARTMENT OF COMMUNITY AND ECONOMIC DEVELOPMENT M E M O R A N D U M DATE: November 7, 2022 TO: Environmental Review Committee (ERC) FROM: Clark H. Close, Principal Planner SUBJECT: Kennydale Gateway (LUA22-000011) SEPA Request for Reconsideration The Environmental Review Committee (ERC) reviewed the above mentioned master site plan application and issued a SEPA Determination of Non-Significance – Mitigated (DNS-M) on September 26, 2022 with eight (8) mitigation measures: 1. The project construction shall comply with the recommendations found in the submitted Geotechnical Engineering Design Study, prepared by Hart Crowser, a division of Haley & Aldrich, dated May 20, 2021 and any future addenda. 2. The applicant’s geotechnical engineer shall review the project’s construction and building permit plans to verify compliance with the geotechnical report(s). The geotechnical engineer shall submit a sealed letter stating that he/she has reviewed the construction and building permit plans and in their opinion the plans and specifications meet the intent of the report(s). 3. The applicant shall remove all non-native invasive blackberry plants currently growing within the May Creek Trail Park property (north of May Creek) located along the site’s southern boundary. In addition, the applicant shall restore the existing soft surface trail and/or construct a new soft surface trail of permeable materials, limited to four feet (4') to six feet (6') in width to reduce impacts to ecologically sensitive resources, from the proposed onsite May Creek Trail connection gate to the formal May Creek Trail located near the water (approximately 60 feet in length). The trail and vegetation management plan would be reviewed for compliance with the Shoreline Master Plan Regulations as a component of Shoreline Substantial Development Permit. 4. The applicant shall design and install a trailhead sign and dog waste station at the gated entrance to May Creek Trail Park. In addition, the applicant shall install one (1) interpretive sign within May Creek Trail (near the gated entrance to the park) that illustrates stream habitat for May Creek Trail. The trailhead sign and interpretive sign shall be reviewed and approved by the Current Planning Project Manager for compliance with May Creek Trail regulations and rules of the nearby trail systems prior to civil construction permit issuance. 5. The applicant shall comply with the recommendations found in the submitted Cultural Resources Assessment, prepared by Willamette Cultural Resources Associates, LTD., dated May 27, 2022 and any future addenda by developing a project-specific monitoring DocuSign Envelope ID: C3EC4EAB-B816-435F-855C-36872EBDF2E1 Kennydale Gateway (LUA22-000011) Page 2 of 9 November 7, 2022 ERC Reconsideration Recommendation Memo-LUA22-000011 plan for the proposed project once full project plans and cross-sections are developed in final design. Project construction activities, that would result in disturbance greater than one foot below ground surface, shall be completed under observation by a professional archeologist when soils are exposed and disturbed by the applicant. Consultation with concerned Tribes shall occur prior to survey activities. 6. The applicant shall reduce the pavement width of the proposed emergency vehicle access road to a maximum of 20-foot wide for the portion of road located immediately south of the Building 2 and south of the existing detention area (a distance of approximately 245 feet), remove all existing excess gravel south of the proposed emergency vehicle access lane, and provide and maintain a minimum eight-foot (8’) wide restoration planting strip within the shoreline conservation buffer near the southwestern portion of the site. A shoreline buffer enhancement plan, prepared by a qualified professional, shall be submitted with the civil construction permit application for review and approval by the Current Planning Project Manager. The shoreline buffer enhancement shall be monitored to ensure performance for five (5) years and backed by a surety device sufficient to guarantee that improvements and mitigation required perform satisfactorily for a minimum of five (5) years after installation has been completed. 7. The applicant shall provide additional traffic analysis to mitigate any traffic volumes realized should the I-405/Renton to Bellevue Widening and Express Toll Lanes Project not be completed and open to traffic prior to temporary occupancy of the phased project. The additional traffic study shall be reviewed and approved by Development Engineering and Transportation staff prior to temporary certificate of occupancy. 8. The applicant shall add a second northbound approach travel lane and a second northbound travel lane within the roundabout at the project intersection. The final length of a second approach travel lane would be required to be analyzed and presented to the City for review and final approval. In addition, the applicant shall add a second southbound lane within the roundabout at the N 43rd St / Lake Washington Blvd N intersection that would include one (1) travel lane through the roundabout and one (1) dedicated right turn lane onto N 43rd St. Dedication would be required to install the identified roundabout configuration and roadway improvements as determined by a survey. The applicant shall submit plans to construct these off-site improvements with the civil construction permit application to be reviewed and approved by Development Engineering and Transportation staff prior to permit issuance. The DNS-M and related documents were emailed to parties of record and posted online1 with an appeal period that ended on October 10, 2022. A request for reconsideration2 of the SEPA determination was received from Hillis Clark Martin & Peterson P.S., Attorneys for Kennydale Gateway LLC, and therefore have standing to request a reconsideration (see enclosures). The request for reconsideration cites conditions 3, 4, and 8 as the contested conditions and the reason for the filing of the request for reconsideration to the ERC. Below is a summary of the concerns cited: 1 Only SEPA Non-Project Actions are required to be published. 2 Initially filed as a Notice of Appeal on October 10, 2022. Subsequently, on October 28, 2022, the law firm that filed a notice of appeal regarding the DNS-M made the request that the notice of appeal be initially processed as a reconsideration request. DocuSign Envelope ID: C3EC4EAB-B816-435F-855C-36872EBDF2E1 Kennydale Gateway (LUA22-000011) Page 3 of 9 November 7, 2022 ERC Reconsideration Recommendation Memo-LUA22-000011 A. Condition 3 of the MDNS would require Kennydale to clear, grade and construct or reconstruct approximately 240 to 360 square feet of surface trail, “to reduce impacts to ecologically sensitive resources” within the May Creek Trail Park property. However, the City did not identify any evidence of negative impacts to existing trail access, nor any SEPA policy requiring any such mitigation. It did not report any negative impacts to ecologically sensitive resources, nor disclaim the findings and conclusions of the Critical Areas Report or any related studies. And even if “impacts to ecologically sensitive resources” had been found (which they had not) Condition 3 did not explain how ecological impacts would possibly be mitigated by the clearing, grading and construction or reconstruction of a pedestrian trail. Staff Comment: The applicant is proposing to reduce the required 100-foot vegetation conservation buffer for May Creek, measured landward from the stream’s ordinary high watermark. This vegetation conservation buffer extends onto the site in two (2) locations at the southwest corner, together the two (2) locations have a combined area 5,347 square feet. Within the 100-foot vegetation conservation buffer for May Creek the applicant is proposing to construct an emergency access road, onsite parking, and a gated access to May Creek Trail Park. According to the applicant, it is not possible to completely avoid impacts to the shoreline on the project site. Per the Applicant’s Critical Areas Report (Exhibit 20), the proposed project is located within the shoreline overlay and the development is anticipating to reduce the 100-foot vegetation conservation buffer so that it terminates at the Site’s southern boundary. No specific mitigation is being proposed by the applicant to restore the 100-foot vegetation conservation buffer for May Creek; however, the Applicant’s Critical Areas Report suggests that the Administrator of the Department of Community and Economic Development, request that non-native, invasive blackberry currently growing within the May Creek Trail Park along the Site’s southern boundary be removed and replaced with native trees and shrubs. As the applicant seeks to reduce the 100-foot vegetation conservation buffer, staff concurs with the Applicant’s Critical Areas Report by finding that the removal of non-native invasive ground cover or weeds listed by King County Noxious Weed Control Board to be an appropriate mitigation measure for proposing to reduce the 100-foot vegetation conservation buffer within the shoreline of May Creek. Himalayan blackberry readily invades riparian areas, forest edges, roadsides, and any other relatively open area. Once it becomes well established, Himalayan blackberry out competes low stature native vegetation and can prevent establishment of shade intolerant trees (such as Douglas fir and ponderosa pine), leading to the formation of permanent thickets with little other vegetation present. The resulting dense thickets of Himalayan blackberry is a poor functional replacement for a diverse native forest understory, meadow or riparian floodplain. As part of the proposed development, the applicant is anticipating the preservation and protection of the existing offsite trees and is proposing to plant a sliver of “Freeway Frontage Planting” within the shoreline buffer along the south property line (Exhibit 4). “Freeway Frontage Planting” includes 2-gallon shrubs, such as arctic fire dogwood, salal, charity mahonia, Cunningham’s white rhododendron, red flowering currant, white flowering currant, magic carpet spiraea, and evergreen huckleberry. Grasses, ferns, & groundcovers would include Massachusetts’s kinnikinnick, tufted hair grass, hybrid epimedium, beach strawberry, low Oregon grape, western sword fern, and Boston ivy. In order to preserve and protect the existing offsite trees and future freeway frontage plants DocuSign Envelope ID: C3EC4EAB-B816-435F-855C-36872EBDF2E1 Kennydale Gateway (LUA22-000011) Page 4 of 9 November 7, 2022 ERC Reconsideration Recommendation Memo-LUA22-000011 from stands of Himalayan blackberry, which are known to be difficult to control due their impenetrability and the plant’s variety of reproductive tactics, a SEPA mitigation measure required the applicant to remove all non-native invasive blackberry plants located along the site’s southern boundary within the May Creek Trail Park property. Through proper management, infested areas can be controlled through the removal of both the above ground vegetation and the root crowns to allow for restoration and planting to occur, as proposed by the applicant. According to the Shoreline Master Program, physical or visual access to shorelines shall be incorporated in all new development when the development would either generate a demand for one or more forms of such access, would impair existing legal access opportunities or rights, or is required to meet the specific policies and regulations of the Shoreline Master Program. A coordinated program for public access for specified shoreline reaches is established in the Comprehensive Plan, Shoreline Policy SH-31 Table of Public Access Objectives by Reach Element, Policy SH-31 with provisions for public access, including off-site facilities designated in the table Public Access Requirements by Reach. The project site is located in the Shoreline High-Intensity May Creek Reach B Designation. Per Appendix B: Public Access Objectives by Reach, the May Creek Reach B shoreline reach public access objective indicates that at the time of re-development, public access should be provided from a trail parallel to the water along the entire property with controlled public access to the water, balanced with goals of preservation and enhancement of ecological functions. In 2012, the City permitted and constructed a 0.27 mile long trail, known as the May Creek Trail, within May Creek Trail Park (LUA12- 037, ECF, SM, SMV), located immediately south of the project site. The trail construction project included a trailhead on Lake Washington Blvd N and a meandering trail throughout the May Creek Trail Park. Furthermore, the May Creek Trail construction project included a six-foot (6’) wide trail with two (2) access points to the north to provide a connection between the May Creek Trail and the future development of the Former Pan Abode site (now known as Kennydale Gateway). In addition to the trial, landscaping, two (2) benches, two (2) interpretive signs, a trailhead sign, a low split rail fence and a litter receptacle were included in the May Creek Trail Mitigation Planting Plan (enclosed). To comply with the Shoreline Master Program, the applicant is proposing a gated access at the south end of the property to provide shoreline access to May Creek and May Creek Trail within May Creek Trail Park. However, the project proposed trail access gate location is estimated to be approximately 80 feet (80’) northwest of the western most constructed access point connection/trail. Trails provide the potential for low impact public physical and visual access to the shoreline. Per Comprehensive Plan Policy SH-43, public access to and along the water's edge should be linked with upland community facilities and the comprehensive trail system that provides non-motorized access throughout the City. As previously indicated, as part of the May Creek Trail Project, the City constructed a future connection stub that terminates at the Kennydale Gateway project south boundary. Based on the applicant’s site plan, the proposed gated access location would not align or connect to the May Creek Trail access point along the south property line. In order to provide functional and physical access to the shoreline from the proposed Kennydale Gateway project access gate to the May Creek Trail, a SEPA mitigation measure for the Kennydale Gateway project was included to restore the existing soft surface trail constructed as part of the May Creek Trail Project and/or construct a new soft surface trail of permeable materials, limited to four feet (4') to six feet (6') in width from the DocuSign Envelope ID: C3EC4EAB-B816-435F-855C-36872EBDF2E1 Kennydale Gateway (LUA22-000011) Page 5 of 9 November 7, 2022 ERC Reconsideration Recommendation Memo-LUA22-000011 proposed onsite May Creek Trail connection gate to the formal May Creek Trail located parallel to the water. The proposed trail development would serve the future residences and/or employees that could result from development of the property. Following a review of the request, staff is proposing to replace Condition 3 of the DNS-M with the following: #3: The applicant shall remove all non-native invasive blackberry plants along the south property line that would negatively impact the proposed “Freeway Frontage Planting” and the preservation and protection of saved trees near the south property line. In addition, the applicant shall provide an aligned trail access point along the south property line that connects to the existing May Creek Trail. The trail connection and vegetation management plan would be reviewed for compliance with the Shoreline Master Plan Regulations as a component of Shoreline Substantial Development Permit. B. Condition 4 of the MDNS would require the Applicant to design interpretive signage illustrating salmon habitat and to install it on City property, as well as to design (rather than simply purchase or adopt) trailhead signage and a dog waste station fixture for installation on the Property. The City suggests this mitigation measure is necessary because of public complaints that non-residents of the area have improperly used a nearby Native Growth Protection Area and shoreline trail within the nearby Barbee Mill community. The City did not explain how a future Project could have caused non- residents to use a local natural area in the past, or how the project could cause non- residents to use a local natural area in the future. The City also did not specify or suggest that the Project would have any specific impact that would be mitigated by custom- designed trail signs, dog-waste fixtures, or off-site interpretive signage. Staff Response: The applicant is proposing development activity within the 200-foot shoreline of May Creek. Development activities within the shoreline require certain public access development standards and features to meet the objectives and criteria of the Shoreline Master Program. For example, required public access sites shall be fully developed and available for public use with signs that indicate the public’s right of access and hours of access. Such signs shall be posted in conspicuous locations at public access sites, shall be installed and maintained by the owner, and be located at the nearest connection to an off-site public right-of-way (RMC 4-3-090D.4.e.iii). Signage is a means to ensure that all members of the community have equitable access to clear park rules, guidelines, and notices. Improved signage at the entrance points promotes a connected system to take trail users to their destination along preferred routes. According to the City of Renton Trails and Bicycle Master Plan, trailheads should be placed at each terminus of a trail corridor, and any place where a large concentration of trail users is expected. Trail access points should include general and interpretive signs identifying the trail and may include a location map and other minimal amenities depending on location, need, and expected user groups, such as drinking water or seating. These access points serve to encourage neighborhood and local pedestrian access to the trail system. They provide minimal amenities, most importantly trail system signs. The applicant is proposing to provide a controlled access so that ad hoc trails do not occur on private land or on public lands where access is not desired, e.g. environmentally sensitive areas. The gated access would provide the opportunity for residents, employees and guest of the development to access and enjoy the May Creek public trail. A SEPA mitigation measure for the Kennydale Gateway project was included to address minimal amenities (typical of an entrance to a DocuSign Envelope ID: C3EC4EAB-B816-435F-855C-36872EBDF2E1 Kennydale Gateway (LUA22-000011) Page 6 of 9 November 7, 2022 ERC Reconsideration Recommendation Memo-LUA22-000011 City Park with a separated multi-use soft surface trail) determined to be the sufficient to satisfy the shoreline development standards for public access by providing an informational trailhead sign to allow users to easily navigate the park paths and park rules, an interpretive sign for providing environmental education in a natural setting, and a dog waste station to allow dog owners convenience from taking an extra trip over to the dog park area (located approximately 380 feet away from the May Creek Trail connection). It is estimated that dog waste stations are effective tools in managing dog waste and could minimize the likelihood that pathogens and parasites from dog waste could enter May Creek should the dog owner choose to utilize the service and follow the rules. The designated May Creek Trail connection spot is anticipated to be a place where concentrations of trail users are expected from the proposed development of 385 dwelling units and approximately 1,500 square feet of commercial retail. No specific design was designated as part of the initial mitigation measure for the interpretive signage, rather that the interpretive sign would illustrate stream habitat. This would allow the applicant to design and submit an interpretive sign for review and approval by the Current Planning Project Manager for compliance with May Creek Trail regulations and rules of the nearby trail systems prior to civil construction permit issuance. The reconsideration request outlines that the interpretive sign would be required to be installed on city property, as well as to design (rather than simply purchase or adopt) trailhead signage and a dog waste station fixture for installation on the subject property. The inclusion of a dog park within the development indicates that dogs would be allowed within the development. Furthermore, the applicant has proposed a gated connection to the May Creek Trail Park which is a popular destination for dog owners in the area. Condition 4 of the DNS-M was included to provide the minimal amenities necessary for the proposed development. Following a review of the request, staff is proposing to replace Condition 4 of the DNS-M with the following: #4: The applicant shall account for a trailhead sign, a dog waste station, and an interpretive sign near the project entrance point to May Creek Trail Park. The trailhead sign and interpretive sign shall be reviewed and approved by the Current Planning Project Manager for compliance with May Creek Trail regulations and rules of the nearby trail systems prior to civil construction permit issuance. C. Condition 8 would require Kennydale to design and construct a two-lane roundabout at the Site Access Roundabout, to include a second northbound automotive travel lane and a second northbound approach automotive travel lane. In addition, at the planned Lake Washington Blvd and N 41st Street Roundabout, Condition 8 would require Kennydale to add an additional southbound automotive travel lane as well as an additional southbound automotive right-turn lane. This Condition was included despite the City’s written acknowledgement that the single-lane roundabout would meet LOS standards and would not generate queues impacting nearby intersections. The City did not specify any specific SEPA policy that supported Condition 8. Its reasoning was limited to a conclusory statement in the Staff Report that a double-lane intersection would result in “a slight decrease in queuing length and no marginal change to delay.” Not only was the one-lane configuration of the Site Access Roundabout deemed fully adequate to handle the Project’s anticipated traffic needs by all established measures by Kennydale’s traffic expert, the City’s traffic expert, and City staff, but it was designed to serve an important urban planning purpose, by creating a transition point between the interchange with I- DocuSign Envelope ID: C3EC4EAB-B816-435F-855C-36872EBDF2E1 Kennydale Gateway (LUA22-000011) Page 7 of 9 November 7, 2022 ERC Reconsideration Recommendation Memo-LUA22-000011 405 and residential neighborhoods west and south of the site, and providing a visible and physical cue to motorists that they are entering an area with slower speed limits and higher pedestrian needs. The City’s unsupported two-lane roundabout scheme would eliminate this sense of transition. Staff Response: The reconsideration request outlines that that the single-lane roundabout would meet LOS standards and would not generate queues impacting nearby intersections. A Transportation Impact Analysis – Revised (TIA), prepared by Heffron Transportation Inc., dated August 15, 2022 (Exhibit 14) was submitted by the application. The TIA responds to comments made by the City’s Transportation Division and the City’s secondary reviewer Transpo Group (Exhibits 15-18). The TIA discusses traffic impacts and how the proposed project traffic volumes relate to the traffic volumes assumed by Washington State Department of Transportation (WSDOT) as part of the NE 44th St Intersection Control Analysis Report (ICAR) prepared for the I-405, Renton to Bellevue Widening and Express Toll Lanes project at the NE 44th St interchange, which included the Gateway project, at a study year of 2025 (Exhibit 42). The TIA evaluated the Level of Service (LOS) analysis conducted by WSDOT and adjusted the WSDOT data for the Gateway project to reflect the single-lane roundabout and project traffic volumes. Where the WSDOT report assumed a multilane roundabout configuration at the Lake Washington Blvd N/NE 43rd St intersection that served to establish a conceptual design to apply to future construction projects at this intersection. A measure of intersection adequacy is the Level of Service (LOS) measured by average vehicle delay and average queuing distance. The TIA prepared by Heffron Transportation, Inc. concluded that a single lane roundabout would provide a LOS B in the AM peak hour, and LOS A in the PM peak hour in the horizon year of 2025 and the WSDOT report concluded that the LOS at the two-lane roundabout would provide LOS A in both the AM and PM at a horizon year of 2025 and 2045. The City’s Transportation Division reviewed the TIA and made a comment that that there are potential impacts at the proposed single-lane roundabout and consideration should be given to the addition of a northbound approach lane and travel lane in the roundabout along with the addition of a southbound dedicated right turn lane (Exhibit 44). This recommendation was made due to a number of factors, such as i) the travel lane configuration shown in the current WSDOT approved for construction drawings effectively being considered as planned transportation system improvements for future construction projects along the corridor of Lake Washington Blvd N; ii) to improve traffic flow and circulation needs of the project corridor; iii) WSDOT SIDRA policy used to analyze roundabout effectiveness; iv) queuing length and delay motorists would experience at Lake Washington Blvd N/N 43rd Street intersection; and v) volume of traffic added by the project. City of Renton Comprehensive Plan includes goals and policies that are applicable in all transportation decisions. For example, Goal T-A: [c]ontinue to develop a transportation system that stimulates, supports, and enhances the safe, efficient and reliable movement of people, vehicles, and goods. When comparing the applicant’s proposed single-lane roundabout to the assumed WSDOT two-lane roundabout configuration, the northbound queuing length jumps nearly four (4) times (from 100 feet to 391 feet) and the delay nearly doubles from 8.9 seconds to 15.3 seconds in the AM peak hour (Year 2025). To reduce the anticipated horizon year increased impacts in queuing and delay with the proposed addition of a single-lane roundabout, the ERC included a SEPA mitigation DocuSign Envelope ID: C3EC4EAB-B816-435F-855C-36872EBDF2E1 Kennydale Gateway (LUA22-000011) Page 8 of 9 November 7, 2022 ERC Reconsideration Recommendation Memo-LUA22-000011 measure to add a second northbound approach travel lane and a second northbound travel lane within the roundabout at the project intersection. In addition, ERC recommended that the applicant add a second southbound lane within the roundabout at the N 43rd St / Lake Washington Blvd N intersection that would include one (1) travel lane through the roundabout and one (1) dedicated right turn lane onto N 43rd St. It is anticipated that this proposed mitigation measure would create a stronger transition point that would more closely align with the street network currently under construction by WSDOT (Exhibit 43), would align with the existing street frontage improvements at the southwest corner of the property, and would adequately mitigate average vehicle delay and average queuing distance encountered by motorists traveling on Lake Washington Blvd N. As a result of this ERC measure, the proposed project would satisfy Comprehensive Plan Goal T-A. The contested condition 8 contends that the City is demanding expansive new automotive-oriented infrastructure contributions that are not related in kind or scale to any identified impacts, and essentially require Kennydale Gateway to outperform duly adopted City LOS standards. The City would consider and has the discretionary power to grant latecomer’s agreements to developers and owners for the reimbursement of a pro rata portion of the original costs of street improvements including signalization and lighting (“street latecomer’s agreements”). The authority to approve a street latecomer’s agreement is vested in the City Council. The procedure to follow in making application for the latecomer’s agreement and the steps to be followed by the City are as detailed in chapter 9-5 RMC. No changes are proposed to Condition 8 of the DNS-M. Recommendation: Based on the additional information provided in the reconsideration request by the Applicant’s Attorneys, staff recommends that the ERC retain SEPA mitigation measures 1, 2, 5, 6, 7, and 8 and replace mitigation measures 3 and 4 of the DNS-M with the following: 3. The applicant shall remove all non-native invasive blackberry plants along the south property line that would negatively impact the proposed “Freeway Frontage Planting” and the preservation and protection of saved trees near the south property line. In addition, the applicant shall provide an aligned trail access point along the south property line that connects to the existing May Creek Trail. The trail connection and vegetation management plan would be reviewed for compliance with the Shoreline Master Plan Regulations as a component of Shoreline Substantial Development Permit. 4. The applicant shall account for a trailhead sign, a dog waste station, and an interpretive sign near the project entrance point to May Creek Trail Park. The trailhead sign and interpretive sign shall be reviewed and approved by the Current Planning Project Manager for compliance with May Creek Trail regulations and rules of the nearby trail systems prior to civil construction permit issuance. Environmental Determination Appeal Process: Appeals of the environmental determination must be filed in writing on or before 5:00 p.m. on November 21, 2022. Due to the City Clerk’s Office is working remotely, appeals must be submitted electronically to the City Clerk at cityclerk@rentonwa.gov or delivered to City Hall 1st floor Lobby Hub Monday through Friday. The appeal fee, normally due at the time an appeal is submitted, will be collected at a future date if DocuSign Envelope ID: C3EC4EAB-B816-435F-855C-36872EBDF2E1 Kennydale Gateway (LUA22-000011) Page 9 of 9 November 7, 2022 ERC Reconsideration Recommendation Memo-LUA22-000011 your appeal is submitted electronically. Appeals to the Hearing Examiner are governed by RMC 4- 8-110 and additional information regarding the appeal process may be obtained from the City Clerk’s Office, cityclerk@rentonwa.gov. Enclosures: Notice of Appeal, Letter requesting that the Notice of Appeal be initially processed as a reconsideration request, May Creek Trail Project Site Plan, and May Creek Trail Mitigation Planting Plan SIGNATURES: Martin Pastucha, Administrator Public Works, Chair Date Anjela Barton, Fire Marshal Renton Regional Fire Authority Date Kelly Beymer, Administrator Parks and Recreation Department Date Chip Vincent, Administrator Date Community and Economic Development DocuSign Envelope ID: C3EC4EAB-B816-435F-855C-36872EBDF2E1 11/7/2022 | 4:25 PM PST 11/7/2022 | 2:50 PM PST11/7/2022 | 3:52 PM PST for 11/7/2022 | 3:53 PM PST DocuSign Envelope ID: C3EC4EAB-B816-435F-855C-36872EBDF2E1 DocuSign Envelope ID: C3EC4EAB-B816-435F-855C-36872EBDF2E1