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HomeMy WebLinkAboutSR_HEX_Report_Exhibits_Southport_Helipad_180501.pdfDEPARTMENT OF COMMUNITY AND ECONOMIC DEVELOPMENT Project Location Map HEX ReportHEX_Report_Southport_Helipad_180501 A. REPORT TO THE HEARING EXAMINER HEARING DATE: May 8, 2018 Project Name: Southport Office Helipad Owner: SECO Development, Inc., Rocale Timmons / 1083 Lake Washington Blvd. N, Suite 50, Renton, WA 98056 / (425) 282-5833 Applicant/Contact: David Ketchum, Airsafe / PO Box 287 Greenbank, WA 98253 / (360) 678-0345 / David@airsafeheliports.com Project File Number: PR14-000082 Southport Land Use File Number: LUA18-000115, ECF, CU-H Project Manager: Clark H. Close, Senior Planner Project Summary: The applicant is requesting a Hearing Examiner Conditional Use Permit (CUP) and Environmental (SEPA) Review to construct a rooftop helipad near the south end of Tower 2 at the Southport Office Complex. The structure on which the helipad is proposed is part of a three-structure office complex that has been permitted separately and is currently under construction. Tower 2 is located in the Urban Center (UC) zoning district on a 245,086 square feet (5.63 acres) parcel at 1101 Lake Washington Blvd N. The 9-story Southport Office Building 2 has been designed to support a thickened concrete helipad slab measuring 30 feet x 30 feet (900 square feet) in size. The helipad would be classified as “private-use” helipad for light- turbine helicopters, classified as H-1. The surrounding landmarks include Renton Municipal Airport to the west, I-405 Freeway to the east and Lake Washington approximately 650 feet to the north. The proposed helipad is expected to have minimal effect on adjacent properties. Project Location: 1101 Lake Washington Blvd N Renton, WA 98056 Site Area: 245,086 square feet (Helipad area 900 square feet) City of Renton Department of Community & Economic Development Hearing Examiner Recommendation SOUTHPORT OFFICE HELIPAD LUA18-000115, ECF, CU-H Report of May 8, 2018 Page 2 of 13 HEX Report Southport Office Helipad B. EXHIBITS: Exhibits 1-6: As shown in the SEPA Environmental Review Report Exhibit 7: Staff Report to the Hearing Examiner Exhibit 8: Environmental “SEPA” Determination and ERC Mitigation Measures Exhibit 9: Request for Reconsideration for SEPA DNS-M Memorandum with Attachment 1 C. GENERAL INFORMATION: 1. Owner(s) of Record: SECO Development, Inc., Rocale Timmons / 1083 Lake Washington Blvd. N, Suite 50, Renton, WA 98056 2. Zoning Classification: Urban Center (UC) 3. Comprehensive Plan Land Use Designation: Commercial & Mixed Use (CMU) 4. Existing Site Use: Southport Office Campus: Apartments, Mixed-use, office, structured parking, and hotel 5. Critical Areas: Regulated Slopes (>15% & <=25%) and High Seismic Hazard Areas 6. Neighborhood Characteristics: a. North: Southport Hotel. Commercial & Mixed Use (CMU) land use designation and Urban Center (UC) zoning. b. East: Bristol Apartments I & II. Commercial & Mixed Use (CMU) land use designation and Urban Center (UC) zoning. c. South: Puget Sound Energy (PSE). Commercial & Mixed Use (CMU) land use designation and Urban Center (UC) zoning. d. West: Boeing Company, Renton Plant. Commercial & Mixed Use (CMU) land use designation and Urban Center (UC) zoning. 6. Site Area: 5.63 acres (Helipad area 900 square feet) D. HISTORICAL/BACKGROUND: Action Land Use File No. Ordinance No. Date Comprehensive Plan N/A 5758 06/22/2015 Zoning N/A 5758 06/22/2015 Planned Action EIS N/A 4804 10/25/1999 Master Site Plan & Shoreline Substantial Development Permit LUA99-189 N/A 04/07/2000 Minor Modification for the Southport Master Site Plan LUA99-189 N/A 02/04/2008 City of Renton Department of Community & Economic Development Hearing Examiner Recommendation SOUTHPORT OFFICE HELIPAD LUA18-000115, ECF, CU-H Report of May 8, 2018 Page 3 of 13 HEX Report Southport Office Helipad Administrative Site Plan Review (Bristol Apartments) LUA01-144 N/A 02/22/2002 Administrative Site Plan Review (Southport Office Bldgs) LUA00-156 N/A 02/05/2001 Southport Hotel/Modification to Master Site Plan LUA14-000645 N/A 09/23/2014 Southport Office Development Minor Modification LUA00-156 N/A 08/06/2015 E. PUBLIC SERVICES: 1. Existing Utilities a. Water: Water service is provided by the City of Renton. b. Sewer: Sewer service is provided by the City of Renton. c. Surface/Storm Water: There is a private storm drainage conveyance system and water quality treatment on site. 2. Streets: The Southport Office Complex is served by a private internal road network within the Southport development, Lake Washington Blvd N, I-405, along with several other local roads. The proposal is not expected to generate any new traffic. 3. Fire Protection: Renton Regional Fire Authority (RRFA) F. APPLICABLE SECTIONS OF THE RENTON MUNICIPAL CODE: 1. Chapter 2 Land Use Districts a. Section 4-2-020: Purpose and Intent of Zoning Districts b. Section 4-2-060: Zoning Use Table – Uses Allowed in Zoning Designations c. Section 4-2-120: Commercial Development Standards 2. Chapter 4 City-Wide Property Development Standards 3. Chapter 9 Permits – Specific a. Section 4-9-030: Conditional Use Permits 4. Chapter 11 Definitions G. APPLICABLE SECTIONS OF THE COMPREHENSIVE PLAN: 1. Land Use Element 2. Transportation City of Renton Department of Community & Economic Development Hearing Examiner Recommendation SOUTHPORT OFFICE HELIPAD LUA18-000115, ECF, CU-H Report of May 8, 2018 Page 4 of 13 HEX Report Southport Office Helipad H. FINDINGS OF FACT (FOF): 1. The Planning Division of the City of Renton accepted the above master application for review on February 14, 2018 and determined the application complete on February 20, 2018. The project complies with the 120-day review period. 2. The site area is approximately 5.63 acres and the site is located at 1101 Lake Washington Blvd N (Exhibits 2). 3. The project site is the south end of Tower 2, a 9-story office building under construction, at the Southport Office Complex. Tower 2 is anticipated to be complete by December 2018. 4. No changes to vehicular or pedestrian access to the site would occur as a result of the project. Access to the site is provided through a private internal road network within the Southport development from the intersection of Lake Washington Blvd N and Houser Way N. 5. The project parcel includes three (3) office buildings with a podium/parking garage complex (Exhibit 3). 6. The property is located within the Commercial & Mixed Use (CMU) Comprehensive Plan land use designations. 7. The site is located within the Urban Center (UC) zoning classification. 8. Existing and perimitted onsite vegetation would not be impacted as a result of the helipad. 9. The site is mapped with Regulated Slopes (>15% & <=25%) and High Seismic Hazard Areas. 10. No public or agency comments were received. 11. Pursuant to the City of Renton's Environmental Ordinance and SEPA (RCW 43.21C, 1971 as amended), on March 12, 2018 the Environmental Review Committee issued a Determination of Non-Significance - Mitigated (DNS-M) for the Southport Office Helipad (Exhibit 8). The original DNS-M included five (5) mitigation measures. A 14-day appeal period commenced on March 16, 2018 and ended on March 30, 2018. The applicant submitted a request for reconsideration of the SEPA determination on March 30, 2018. On April 12, 2018 the Environmental Review Committee issued a revised Determination of Non- Significance - Mitigated (DNS-M) for the Southport Office Helipad (Exhibit 9). The revised DNS-M included six (6) mitigation measures. A 14-day appeal period commenced on April 13, 2018 and ended on April 27, 2018. No appeals of the threshold determination have been filed as of the date of this report. 12. Based on an analysis of probable impacts from the proposal, the Environmental Review Committee (ERC) issued the following mitigation measures with the Determination of Non-Significance – Mitigated: 1. The Southport Office Helipad operator shall limit engine and rotor-system running times to the minimum necessary for safe operations and consistency with helicopter and engine manufacturer recommendations. 2. The operator of the Southport Office Helipad shall employ Helicopter Association International’s Fly Neighborly Program. 3. Helipad operating hours shall be restricted to the hours between seven o’clock (7:00) a.m. and eight o’clock (8:00) p.m., Monday through Friday. Operating hours on Saturdays shall be restricted to the hours between nine o’clock (9:00) a.m. and six o’clock (6:00) p.m. No flights shall be permitted on Sundays. 4. The helipad shall be restricted to twelve (12) operations per week with each operation consisting of both a landing and take-off. 5. The helipad shall be restricted to light-turbine helicopters only, except for larger helicopters in case of an emergency. 6. The Operator of this helipad shall be afforded a certain level of flexibility to operate beyond SEPA mitigation measures 3 and 4, if such operations are necessitated by weather or unplanned events. City of Renton Department of Community & Economic Development Hearing Examiner Recommendation SOUTHPORT OFFICE HELIPAD LUA18-000115, ECF, CU-H Report of May 8, 2018 Page 5 of 13 HEX Report Southport Office Helipad At the request of the City, the operator shall provide a report explaining the event and/or condition that necessitated the deviation from permitted flight operations. 13. Representatives from various city departments have reviewed the application materials to identify and address issues raised by the proposed development. These comments are contained in the official file, and the essence of the comments has been incorporated into the appropriate sections of this report and the Departmental Recommendation at the end of this report. 14. Comprehensive Plan Compliance: The site is designated Commercial & Mixed Use (CMU) on the City’s Comprehensive Plan Map. The CMU designation allows residential uses as part of mixed-use developments, and support new office and commercial development that is more intensive than what exists to create a vibrant district and increase employment opportunities. The intention of this designation is to transform strip commercial development into business districts through the intensification of uses and with cohesive site planning, landscaping, signage, circulation, parking, and the provision of public amenity features. The proposal is compliant with the following development standards if all conditions of approval are met: Compliance Comprehensive Plan Analysis  Goal L-F: Minimize risk associated with potential aviation incidents, on the ground and for aircraft occupants.  Goal L-K: Provide an energetic business environment for commercial activity providing a range of service, office, commercial, and mixed-use residential uses that enhance the City’s employment and tax base along arterial streets and in Centers.  Goal L-M: Strengthen Renton’s employment base and economic growth by achieving a mix of industrial, high technology, office, and commercial activities in Employment Areas.  Policy L-64: Design buildings with provisions for evacuation in case of all types of emergency events.  Goal T-A: Continue to develop a transportation system that stimulates, supports, and enhances the safe, efficient and reliable movement of people, vehicles, and goods.  Goal T-F: Promote and develop local air transportation facilities in a responsible and efficient manner.  Policy T-39: Provide multimodal transportation improvements that support land use plans and are compatible with surrounding land uses. 15. Zoning Development Standard Compliance: The Urban Center (UC) was established to provide an area for pedestrian-scale urban mixed-use development that supports the residential and employment goals of Renton’s Urban Center. The UC Zone is intended to attract a wide range of o ffice, technology, commercial, and residential uses. The overall mix and intensity of uses within both zones is expected to develop over time. Consequently, decisions made in early phases of redevelopment will need to take into consideration the potential for further infill and intensification of uses. The overall mix and intensity of uses is intended to create an urban rather than suburban character. The form of development is expected to use urban development standards and therefore, setbacks, heights, landscaping, parking, and design standards are to be urban in scale and configured in a layout utilizing the street system to create a human- scale, pedestrian-oriented new center. Uses that support urban center development are allowed. Development is expected to include amenities such as gateways, water access, and open space. High- quality development is anticipated, encompassing a mix of residential neighborhoods, shopping, and employment districts and public facilities. The designation is also intended to allow continuation of airplane manufacturing and accessory airplane manufacturing uses, as land area formerly occupied by City of Renton Department of Community & Economic Development Hearing Examiner Recommendation SOUTHPORT OFFICE HELIPAD LUA18-000115, ECF, CU-H Report of May 8, 2018 Page 6 of 13 HEX Report Southport Office Helipad those uses is transformed to combinations of retail, service, office, residential, and civic uses. The proposal is compliant with the following development standards, as outlined in RMC 4-2-130A, if all conditions of approval are met: Compliance IH Zone Develop Standards and Analysis Compliant if condition of approval is met Use: Pursuant to RMC 4-2-060, helipads require a Hearing Examiner Conditional Use Permit in the UC zone. Specified use(s) are permitted in locations that are south of Gene Coulon Memorial Park, north of North Park Drive or west of Logan Avenue North, and east of the Cedar River. Staff Comment: The applicant is requesting a Hearing Examiner Conditional Use Permit to establish a helipad use on Tower 2 within the Southport Office Complex. The location is within the designated permitted area south of Gene Coulon Memorial Beach Park, north of N Park Dr (recently renamed Southport Dr N), and east of Cedar River. The proposed helipad is located approximately 0.59 miles east of the Renton Municipal Airport (Exhibit 2). The Environmental Review Committee (ERC) issued six (6) mitigation measures based on an analysis of probable impacts of the proposed use (Exhibit 8). N/A Density: The minimum density required in the UC zone is 20.0 dwelling units per net acre. The maximum density permitted is 85 dwelling units per net acre (150 du/acre) if ground floor commercial is provided. Net density is calculated after the deduction of sensitive areas, areas intended for public right-of-way, and private access easements.  Setbacks: Determined through site plan review. Staff Comment: The Southport office buildings received Administrative Site Plan Review under LUA00-156 on February 5, 2001. On August 6, 2015, an Administrative Minor Modification was approved for the Southport Office Development. The proposed rooftop helipad, near the south end of Tower 2, is consistent with the setbacks established for the Southport Office Development through Site Plan Review and Minor Modification approval.  Building Standards: The UC zone has a maximum building coverage 90% of total lot area or 100% if parking is provided within the building or within a parking garage. The maximum building height permitted is 10 stories along primary and secondary arterials. Staff Comment: The applicant is proposing to construct a rooftop helipad near the south end of Tower 2 at the Southport Office Complex. The proposed 30 feet x 30 feet (900 square feet) thickened concrete helipad slab would not increase maximum building coverage or exceed the permitted height of the office tower. The 9-story office building was designed and is being constructed to support the proposed thickened concrete helipad (Exhibit 4).  Landscaping: The City’s landscape regulations (RMC 4-4-070) require a 10-foot landscape strip along all public street frontages. Additional minimum planting strip widths between the curb and sidewalk are established according to the street development standards of RMC 4-6-060. Street trees and, at a minimum, groundcover, are to be located in this area when present. Spacing standards shall be as stipulated by the Department of Community and Economic Development, provided there shall be a minimum of one street tree planted per address. Any additional undeveloped right-of- way areas shall be landscaped unless otherwise determined by the Administrator. All parking lots shall have perimeter landscaping as follows: City of Renton Department of Community & Economic Development Hearing Examiner Recommendation SOUTHPORT OFFICE HELIPAD LUA18-000115, ECF, CU-H Report of May 8, 2018 Page 7 of 13 HEX Report Southport Office Helipad Such landscaping shall be at least ten feet (10') in width as measured from the street right-of-way. Standards for planting shall be as follows: a. Trees shall be two inches (2") in diameter at breast height (dbh) for multi-family, commercial, and industrial uses at an average minimum rate of one tree per thirty (30) lineal feet of street frontage. b. Shrubs at the minimum rate of one per twenty (20) square feet of landscaped area. Up to fifty percent (50%) of shrubs may be deciduous. c. Ground cover in sufficient quantities to provide at least ninety percent (90%) coverage of the landscaped area within three (3) years of installation. Surface parking lots with more than fourteen (14) stalls shall be landscaped as follows: Surface parking lots with between 15 and 50 spaces shall provide 15 square feet of landscaping per parking space, 51 and 99 spaces shall provide 25 square feet of landscaping per parking space, and 100 or more spaces shall provide 35 square feet of landscaping per parking space. Perimeter parking lot landscaping shall be at least 10 feet in width, interior parking lot landscaped areas shall have a minimum width of 5 feet. Staff Comment: The helipad at the Southport Office Complex would not impact the approved landscaping plan issued under civil construction plans and/or building permits.  Tree Retention: The City’s adopted Tree Retention and Land Clearing Regulations (4-4- 130) require the retention of 10 percent of trees in a commercial development. Significant trees shall be retained in the following priority order: Priority One: Landmark trees; significant trees that form a continuous canopy; significant trees on slopes greater than twenty percent (20%); significant trees adjacent to critical areas and their associated buffers; and significant trees over sixty feet (60') in height or greater than eighteen inches ( 18") caliper. Priority Two: Healthy tree groupings whose associated undergrowth can be preserved; other significant native evergreen or deciduous trees; and other significant non- native trees. Priority Three: Alders and cottonwoods shall be retained when all other trees have been evaluated for retention and are not able to be retained, unless the alders and/ or cottonwoods are used as part of an approved enhancement project within a critical area or its buffer. Staff Comment: This project proposes to retain all trees within the development. The existing onsite trees were planted as part of previous development projects.  Screening: All on-site surface mounted utility equipment shall be screened from public view. Screening shall consist of equipment cabinets enclosing the utility equipment, solid fencing or a wall of a height at least as high as the equipment it screens, or a landscaped visual barrier allowing for reasonable access to equipment. Equipment cabinets, fencing, and walls shall be made of materials and/or colors compatible with building materials. All operating equipment located on the roof of any building shall be enclosed so as to be screened from public view. Staff Comment: Tower 2 would be constructed with a parapet wall to screen the rooftop from public view. City of Renton Department of Community & Economic Development Hearing Examiner Recommendation SOUTHPORT OFFICE HELIPAD LUA18-000115, ECF, CU-H Report of May 8, 2018 Page 8 of 13 HEX Report Southport Office Helipad  Parking: Parking regulations are not specified in Renton Municipal Code for helipads. Standard parking stall dimensions are 9 feet by 20 feet, compact stall dimensions are 8 ½ feet by 16 feet. Staff Comment: The proposal is not expected to create any new vehicle trips nor would the helipad reduce the need for onsite vehicle parking. The Southport Development project includes a podium/parking garage complex with 2,120 parking stalls and 245 bicycle parking spaces for use by the proposed office, adjacent hotel and ancillary uses.  Fences and Retaining Walls: A maximum of eight feet (8') anywhere on the lot provided the fence, retaining wall or hedge does not stand in or in front of any required landscaping or pose a traffic vision hazard. There shall be a minimum three-foot (3') landscaped setback at the base of retaining walls abutting public rights-of-way. Staff Comment: The applicant is not proposing fencing or retaining walls. 16. Critical Areas: Project sites which contain critical areas are required to comply with the Critical Areas Regulations (RMC 4-3-050). The proposal is consistent with the Critical Areas Regulations, if all conditions of approval are complied with:  Geologically Hazardous Areas: Based upon the results of a geotechnical report and/or independent review, conditions of approval for developments may include buffers and/or setbacks from buffers. A standard 15-foot building setback is required for all structures from Protected Slope areas. A 50-foot buffer and 15-foot building setback are required from Very High Landslide Hazard Areas. Staff Comment: The parcel with Tower 2 contains Regulated Slopes (>15% & <=25%) and High Seismic Hazard Areas. A geotechnical report was waived as part of the Conditional Use Permit submittal application. A geotechnical report was required as part of the land use and building permit review for the Southport Office Complex, currently under construction. The building permit for Tower 2 was issued on June 22, 2017. 17. Conditional Use Analysis: The applicant is requesting a Conditional Use Permit for the subject property to construct a private rooftop helipad near the south end of Tower 2 at the Southport Office Complex. The estimated project value is $40,000 to complete the improvements. The proposal is compliant with the following conditional use criteria, pursuant to RMC 4-9-030. Therefore, staff recommends approval of the requested Conditional Use Permit. Compliance Conditional Use Criteria and Analysis  a. Consistency with Plans and Regulations: The proposed use shall be compatible with the general goals, objectives, policies and standards of the Comprehensive Plan, the zoning regulations and any other plans, programs, maps or ordinances of the City of Renton. Staff Comment: Helipads require a Hearing Examiner Conditional Use Permit within the Urban Center (UC) commercial zoning designation. The new helipad on the rooftop of Southport Office Complex Tower 2 is consistent with the stated goals and policies of the City of Renton Department of Community & Economic Development Hearing Examiner Recommendation SOUTHPORT OFFICE HELIPAD LUA18-000115, ECF, CU-H Report of May 8, 2018 Page 9 of 13 HEX Report Southport Office Helipad City of Renton Comprehensive Plan. See also FOF 14, Comprehensive Plan Analysis above. According to the applicant, the Federal Aviation Administrations (FAA’s) authority, with respect to helipads, is in Federal Aviation Regulation Part 157 of Title 14 of the U.S. code. Part 157 requires sponsors of helicopter landings areas, except those intended for temporary use, to file FAA Form 7480-1 “Notice of Landing Area Proposal” prior to development. This initiates an FAA airspace review. The FAA uses Federal Aviation Regulation Part 77 “Airspace Obstruction Standards” as a guide when they conduct reviews. The FAA requires at least one approach/departure path along an 8:1 outward and upward slope that is either free of objects or, if minimal penetrations exist, that the objects are not considered hazards to flight. The FAA reviews result in one of three determinations: (1) no objection, (2) no objection with mitigation, or (3) objection – to the use of airspace. The results of airspace determinations are provided in letter form. According to the applicant, sufficient clear airspace exists east, south, and west of Tower 2 to satisfy the FAA with respect to airspace. FAA Form 7480-1 was submitted by SECO Development, Inc. on February 8, 2016. A response from the FAA indicated that the agency had no objection to the use of airspace for this site (Exhibit 5). All FAA airspace determinations have expiration dates. The “No objection” determination is valid until August of 2018. SECO Development, Inc. completed a second filing on November 10, 2017. Southport is expecting the same determination by the FAA as the original determination. The applicant contends that the design of the helipad is consistent with the International Building Code (IBC), International Fire Code (IFC) and National Fire Protection Association (NFPA). To comply with national codes, the primary items necessary are as follows: 1) one (1) code stair; 2) a second method to access the occupied floor below (which could be a hatch and vertical ladder); 3) a 2 ½” standpipe with 150 feet of landing area; 4) two (2) 20A-160B fire extinguishers; 5) a no-smoking sign or additional similar signs as deemed logical based on overall design; and 6) a fire-pull station. According to the engineer, the helipad would have adequate capacity to meet at a minimum the loading requirements of the 2015 IBC section 1607.6 and would have the capability of accommodating helicopters weighing up to 10,000 pounds (Exhibit 4). A concrete or paver pathway would connect the helipad to the elevator or stair system located near the center of the roof. The new helipad structure would increase landing areas for helicopters in case of a local or regional emergency. The proposed land use plans are compatible with surrounding land uses. As such, the project would continue to develop a transportation system that stimulates, supports, and enhances the safe, efficient and reliable movement of people and is compatible with these purposes and goals. The proposal is consistent with zoning regulations, development standards and all other plans, programs, maps and ordinances of the City of Renton if all conditions are complied with. See discussion above under FOF 14, Comprehensive Plan Compliance and FOF 15, Zoning Development Standard Compliance.  b. Appropriate Location: The proposed location shall not result in the detrimental overconcentration of a particular use within the City or within the immediate area of the proposed use. The proposed location shall be suited for the proposed use. Staff Comment: The proposed location for the project would not result in detrimental overconcentration of a particular use within the City or within the immediate area of the City of Renton Department of Community & Economic Development Hearing Examiner Recommendation SOUTHPORT OFFICE HELIPAD LUA18-000115, ECF, CU-H Report of May 8, 2018 Page 10 of 13 HEX Report Southport Office Helipad proposed use. The helipad would serve as a natural transportation option to the Southport Office Complex. When the construction is complete, the Southport Office Complex would be a major business center and helicopters are often used for efficient corporate transportation. The applicant considers the proposed helipad to be a logical, beneficial, accessory use to a future center of concentrated business activity. The rooftop location provides a secure landing area that meets relevant national standards and FAA recommendations. Therefore, the location identified (rooftop of Tower 2) is suited for the proposed use.  c. Effect on Adjacent Properties: The proposed use at the proposed location shall not result in substantial or undue adverse effects on adjacent property. Staff Comment: The helipad is located in the UC zone, east of the Renton Municipal Airport, west of the I-405 Freeway and south of Lake Washington and is expected to have minimal effect on adjacent properties due to the existing high level of noises generated by aircraft from the airport, vehicular traffic from I-405, boat and seaplane activity on Lake Washington, Boeing plant operations, and general activities/events found in metropolitan areas such as street traffic and emergency vehicle sirens. The helipad would operate during restricted hours and would be limited to twelve (12) operations per week with each operation consisting of both a landing and take-off (Exhibit 8). Therefore, the helipad would not result in substantial or undue adverse effects on adjacent property. The new helipad is not expected to be incompatible with existing or future land use plans of the area, as new development continues to take place near south Lake Washington.  d. Compatibility: The proposed use shall be compatible with the scale and character of the neighborhood. Staff Comment: The proposed use would be compatible with the scale and character of the neighborhood. According to the applicant, the area at which a helipad would be located on Tower 2 and the airspace that would serve the approaches and departures are large enough for safe flight operations. The proposed helipad, and the airspace serving the helipad or adjacent uses, would be compatible with flight safety and helipad/helicopter operations. The co-located helipad and office complex are compatible with the scale and character of the growing Southport area.  e. Parking: Adequate parking is, or will be made, available. Staff Comment: Adequate parking would be provided onsite. There are 2,120 parking spaces associated with the Southport Office Complex. No new parking would be necessary to accommodate the helipad as sufficient parking existing for all uses.  f. Traffic: The use shall ensure safe movement for vehicles and pedestrians and shall mitigate potential effects on the surrounding area. Staff Comment: No additional vehicle trips are expected to be generated as a result of the proposed helipad use. The proposal would not require any improvements to the nearby public streets. Compliant if condition of approval is met g. Noise, Light and Glare: Potential noise, light and glare impacts from the proposed use shall be evaluated and mitigated. Staff Comment: All impacts from noise generated by construction would be short-term, temporary in nature, and would take place during daylight hours. Construction noise would likely not exceed existing background noise levels. Construction-related noises would be limited to the City of Renton construction hours. Work outside of normal City of Renton Department of Community & Economic Development Hearing Examiner Recommendation SOUTHPORT OFFICE HELIPAD LUA18-000115, ECF, CU-H Report of May 8, 2018 Page 11 of 13 HEX Report Southport Office Helipad construction hours is by City of Renton permission only. No hauling or work is allowed on Sunday. The general use of helicopters would not be more intense than that of the permitted ambient noise levels created by seaplanes from Lake Washington, airplanes from Renton Municipal Airport, and vehicular noise from vehicles travelling along I-405. According to the applicant, noise generated by modern light-turbine helicopters continue to be reduced by technological improvements to engines and rotor systems. Modern light- turbine helicopters are able to reduce both noise and emissions by shutting down engines and rotor systems within approximately 30 seconds of landing. The temporary noises created by the helicopters are not anticipated to create significantly high levels of sound over long intervals and are not expected to be bothersome to nearby uses. Primary concepts of the Helicopter Association International’s (HAI) Fly Neighborly Program would be employed at this helipad. “Fly Neighborly” is used by helicopter operators as an effective voluntary program to minimize noise levels in urban communities. Also, “Fly Neighborly” procedures include noise abatement techniques for use in daily operations, such as avoiding noise-sensitive areas, flying at airspeeds consistent with minimum noise output, using steeper descents and ascents, gradual and smooth control inputs, and eliminating sharp turns. During the hours of darkness a lighted wind indicator would be visible to those within the line of sight. According to the applicant, the Helipad perimeter lights would not be visible to the public nor would they create high levels of glare due to LED technology. The structural support area of the helipad would be defined by eight (8) perimeter lights that are flush with the concrete landing surface. Each of the perimeter lights would have eight (8) watts of power. According to the applicant, the perimeter lights and lighted wind indicator would be activated within a few minutes of landing and would be turned off shortly after helicopter departure. No flood lights would be used to illuminate the helipad. The goal of the helipad lighting would be to use only the number of lights and cumulative light intensity sufficient to safely identify a helipad’s structural support area. Light intensity above safety levels would be undesirable as it would serve to reduce the pilots’ night vision. A helicopter emits two (2) sources of light. One source is navigation lights. These light are on at all times that helicopters are operation. They are similar to fixed-wing aircraft navigation lights as there is a red light on one side and a blue light on the other side. These is also a flashing red or white light. The other source of light from helicopters are landing lights. Most helicopters have single light used to illuminate a landing area during approach. Generally landing lights are turned on a minute or two before landing. Helicopter landing lights would be similar to fixed-wing aircraft landing lights use to approach Renton Municipal Airport. The applicant contends that no glare impacts are anticipated by the project. A lighting plan was not provided with the helipad Conditional Use Permit application; therefore staff recommends that a lighting plan that adequately provides for helicopter safety be provided by the applicant. The lighting plan shall be submitted with the construction permit application to be reviewed and approved by the Current Planning Project Manager prior to construction permit approval.  h. Landscaping: Landscaping shall be provided in all areas not occupied by buildings, paving, or critical areas. Additional landscaping may be required to buffer adjacent properties from potentially adverse effects of the proposed use. City of Renton Department of Community & Economic Development Hearing Examiner Recommendation SOUTHPORT OFFICE HELIPAD LUA18-000115, ECF, CU-H Report of May 8, 2018 Page 12 of 13 HEX Report Southport Office Helipad Staff Comment: The helipad at the Southport Office Complex would be located on the rooftop of Tower 2 and would not impact the approved landscaping plan issued under civil construction plans and/or building permits. See also discussion above under FOF 15, Zoning Development Standard Compliance: Landscaping, Tree Retention and Screening. 18. Availability and Impact on Public Services: Compliance Availability and Impact on Public Services Analysis  Police and Fire: Police and Fire Prevention staff indicates that sufficient resources exist to furnish services to the proposed development; subject to the advisory notes to the applicant (Exhibit 6). No fire impact fees are applicable for this project.  Schools: The Southport Office Helipad would not add new students to the Renton School District.  Parks: No park impact fees would be required for the Southport Office Helipad.  Storm Water: An adequate drainage system shall be provided for the proper drainage of all surface water. Staff Comment: Based on the information provided in the application and further review of the 2017 Renton Surface Water Design Manual (RSWDM) and the 2014 Washington Department of Ecology Stormwater Management Manual for Western Washington (SWMMWW), the City does not consider the helipad to be a pollution generating impervious surface (PGIS). No additional stormwater improvements will be required for the proposed helipad. The approved drainage plans and technical information report on file for the Southport Office Towers already accounts for the helipad surface as a non- pollution generating impervious surface. See also Advisory Notes to Applicant (Exhibit 6).  Water: Any standpipe that is required to serve the helipad that is connected to the City’s water system must be protected by an approved backflow prevention assembly.  Sanitary Sewer: The proposal would not require any sanitary sewer improvements. I. CONCLUSIONS: 1. The subject site is located in the Commercial & Mixed Use (CMU) Comprehensive Plan designation and complies with the goals and policies established with this designation, see FOF 14. 2. The subject site is located in the Urban Center (UC) zoning designation and complies with the zoning and development standards established with this designation provided the applicant complies with City Code and conditions of approval, see FOF 15. 3. The proposed Southport Office Helipad complies with the Critical Areas Regulations, see FOF 16. 4. The proposed Southport Office Helipad complies with the Conditional Use Permit criteria as established by City Code and state law provided all advisory notes and conditions are complied with, see FOF 17. 5. There are adequate public services and facilities to accommodate the proposed development, see FOF 18. 6. The proposed Southport Office Helipad would continue to develop an integrated transportation system that stimulates, supports, and enhances the safe, efficient and reliable movement of people. City of Renton Department of Community & Economic Development Hearing Examiner Recommendation SOUTHPORT OFFICE HELIPAD LUA18-000115, ECF, CU-H Report of May 8, 2018 Page 13 of 13 HEX Report Southport Office Helipad J. RECOMMENDATION: Staff recommends approval of the Southport Office Helipad, File No. LUA18-000115, as depicted in Exhibit 3, subject to the following conditions: 1. The applicant shall comply with all six (6) mitigation measures issued as part of the reconsideration for SEPA Determination of Nonsignificance-Mitigated (DNS-M), dated April 12, 2018 (Exhibit 9). 2. The applicant shall provide a lighting plan that adequately provides for helicopter safety. The lighting plan shall be submitted with the construction permit application to be reviewed and approved by the Current Planning Project Manager prior to construction permit approval. CITY OF RENTON DEPARTMENT OF COMMUNITY AND ECONOMIC DEVELOPMENT REPORT TO THE HEARING EXAMINER EXHIBITS Project Name: Southport Office Helipad Project Number: LUA18-000115, ECF, CU-H Date of Permit Issuance May 8, 2018 Staff Contact Clark H. Close Senior Planner Project Contact David Ketchum, Airsafe PO Box 287 Greenbank, WA 98253 Project Location 1101 Lake Washington Blvd N Renton, WA 98056 Exhibits: Exhibit 1 Environmental Review Committee (ERC) Report Exhibit 2 Neighborhood Detail Map Exhibit 3 Southport Office Complex Helipad Site Plan Exhibit 4 Structural Letter, prepared by Coughlin Porter Lundeen, dated November 9, 2017 Exhibit 5 Aeronautical Study No. ANS 2015-ANM-3277-OE, dated February 8, 2016 Exhibit 6 Advisory Notes to Applicant Exhibit 7 Staff Report to the Hearing Examiner Exhibit 8 Environmental “SEPA” Determination and ERC Mitigation Measures Exhibit 9 Request for Reconsideration for SEPA DNS-M Memorandum with Attachment 1 DEPARTMENT OF COMMUNITY AND ECONOMIC DEVELOPMENT Project Location Map ERC Report ENVIRONMENTAL REVIEW COMMITTEE REPORT ERC MEETING DATE: March 12, 2018 Project Name: Southport Office Helipad Project Number: PR14-000082 Southport Land Use Number: LUA18-000115, ECF, CU-H Project Manager: Clark H. Close, Senior Planner Owner: SECO Development, Inc., Rocale Timmons / 1083 Lake Washington Blvd. N, Suite 50, Renton, WA 98056 / (425) 282-5833 Applicant/Contact: David Ketchum, Airsafe / PO Box 287 Greenbank, WA 98253 / (360) 678-0345 / David@airsafeheliports.com Project Location: 1101 Lake Washington Blvd N Renton, WA 98056 Project Summary: The applicant is requesting a Hearing Examiner Conditional Use Permit (CUP) and Environmental (SEPA) Review to construct a rooftop helipad near the south end of Tower 2 at the Southport Office Complex. The structure on which the helipad is proposed is part of a three-structure office complex that has been permitted separately and is currently under construction. Tower 2 is located in the Urban Center (UC) zoning district on a 245,086 square feet (5.63 acres) parcel at 1101 Lake Washington Blvd N. The 9-story Southport Office Building 2 has been designed to support a thickened concrete helipad slab measuring 30 ft x 30 ft (900 sf) in size. The helipad would be classified as “private -use” helipad for light-turbine helicopters, classified as H-1. The surrounding landmarks include Renton Municipal Airport to the west, I-405 Freeway to the east and Lake Washington approximately 650 feet to the north. The proposed helipad is expected to have minimal effect on adjacent properties. Exist. Bldg. Area SF: Under Construction Proposed New Bldg. Area (footprint): Proposed New Bldg. Area (gross): N/A N/A Site Area: 245,086 SF Total Building Area GSF (completed): 257,163 SF STAFF RECOMMENDATION: Staff Recommends that the Environmental Review Committee issue a Determination of Non-Significance – Mitigated (DNS-M). City of Renton Department of Community & Economic Development Environmental Review Committee Report SOUTHPORT OFFICE HELIPAD LUA18-000115, ECF, CU-H Report of March 12, 2018 Page 2 of 8 ERC_Report_Southport_Office_Helipad PART ONE: PROJECT DESCRIPTION / BACKGROUND The owner, SECO Development, Inc., is requesting SEPA Environmental Review and a Hearing Examiner Conditional Use Permit to construct a private rooftop helipad near the south end of Southport Office Tower 2. The Tower 2 structure is located at 1101 Lake Washington Blvd N, between Gene Coulon Park and the Boeing manufacturing facility (Exhibit 2). The Southport Office Campus parcel is located on a 245,086 square foot (5.63 acres) parcel that has a current land use designation of Commercial Mixed Use (CMU), is zoned Urban Center (UC) and is located within the Urban Design District ‘C’ overlay district. A helipad requires a Hearing Examiner Conditional Use Permit in the UC zone in locations that are south of Gene Coulon Memorial Park, north of North Park Drive or west of Logan Avenue North, and east of the Cedar River. The proposal is vested to COR-3 zoning classification as part of the Southport Development Planned Action FSEIS (September 9, 1999), the Southport Level II Master Plan and Shoreline Development Permit (LUA99- 189, SA-A, SM), and the subsequent Master Site Plan Modifications (dated February 4, 2008 , September 23, 2014 and August 6, 2015). The applicant received Site Plan Approval on February 5, 2001 (LUA00-156). Since the 2000 Master Site Plan approval, the City has issued Level I Site Plan approvals for all three of the Southport Developments: Phase I, The Bristol apartment buildings, a mixed/use residential complex (completed); Phase II, the subject proposal for three 125-foot tall office buildings with a podium/parking garage complex (under construction); and Phase III, a 12-story hotel, Hyatt Regency Hotel (completed). Vehicular access to the site is via a private internal road network within the Southport development from the intersection of Lake Washington Blvd N at Houser Way N. The helipad’s structural system is an 8” post-tensioned concrete slab with 16” post-tensioned wide- shallow beams. The slab and wide-shallow beams are supported by concrete columns which are supported by pile caps at the foundation. The thickened concrete slab would measure 900 square feet (30’ x 30’) in size (Exhibit 3). According to the engineer, the helipad would have adequate capacity to meet at a minimum the loading requirements of the 2015 IBC section 1607.6 and would have the capability of accommodating helicopters weighing up to 10,000 pounds (Exhibit 4). A concrete or paver pathway would connect the helipad to the elevator or stair system located near the center of the roof. Together the three office buildings total approximately 720,000 gross square feet of Class “A” office space, 1,658 mercantile, 4,000 square feet of retail, 3,594 square feet of assembly use. The office spaces are integrated with and sit on top of a parking structure that inc ludes 2,120 parking spaces, 245 bicycle parking spaces for use by the proposed office, adjacent hotel, and ancillary uses. Tower 2 has been designed to serve structural and electrical needs for a future helipad. The site falls within the high seismic hazard area and Tower 2 is not located within the Shoreline Jurisdiction. The helipad is expected to be managed and used by a tenant(s) of the Southport Office Complex. The owner of the helipad would establish policies and procedures for the helipad’s use to en sure that flight operations are conducted by a qualified firm(s), that industry “best practices” are used , and that flight procedures are consistent with the “Fly Neighborly Guide,” as published by the Helicopter Association International (HAI). The helipad would be classified as “private use,” also known as “prior permission required” which means that it would not be open to the public but would be open for the use of the owner/operator and those specifically invited to use the helipad. The helicopters expected to visit the helipad are classified as H-1 by City of Renton Department of Community & Economic Development Environmental Review Committee Report SOUTHPORT OFFICE HELIPAD LUA18-000115, ECF, CU-H Report of March 12, 2018 Page 3 of 8 ERC_Report_Southport_Office_Helipad the National Fire Protection Association. Such helicopters are also describes as light -turbine. A typical light- turbine helicopter is an EC-135 (6,250 max weight, 5 passengers, with twin-turbine engines). According to the applicant, the design of the helipad is consistent with the International Building Code (IBC), International Fire Code (IFC) and National Fire Protection Association (NFPA). To meet national codes, the primary items necessary to operate a helipad include the following: one code stairway, a second method to access the occupied floor below which could be a hatch and vertical ladder, a 2 ½-inch standpipe with 150 feet of the landing area, two 20A -160B fire extinguishers, a no-smoking sign (or additional such signs), and a fire-pull station. PART TWO: ENVIRONMENTAL REVIEW In compliance with RCW 43.21C.240, the following environmental (SEPA) review addresses only those project impacts that are not adequately addressed under existing development standards and environmental regulations. A. Environmental Threshold Recommendation Based on analysis of probable impacts from the proposal, staff recommends that the Responsible Officials: Issue a DNS-M with a 14-day Appeal Period. B. Mitigation Measures 1. The Southport Office Helipad operator shall limit engine and rotor-system running times to the minimum necessary for safe operations and consistency with helicopter and engine manufacturer recommendations. 2. The operator of the Southport Office Helipad shall employ Helicopter Association International’s Fly Neighborly Program. 3. Helipad operating hours shall be restricted to the hours between seven o’clock (7:00) a.m. and eight o’clock (8:00) p.m., Monday through Friday. Operating hours on Saturdays shall be restricted to the hours between nine o’clock (9:00) a.m. and six o’clock (6:00) p.m. No flights shall be permitted on Sundays. 4. The helipad shall be restricted to a maximum of twelve (12) landings and takeoff per week. 5. The helipad shall be restricted to light-turbine helicopters only, except for larger helicopters in case of an emergency. C. Exhibits Exhibit 1 Environmental Review Committee (ERC) Report Exhibit 2 Neighborhood Detail Map Exhibit 3 Southport Office Complex Helipad Site Plan Exhibit 4 Structural Letter, prepared by Coughlin Porter Lundeen, dated November 9, 2017 Exhibit 5 Aeronautical Study No. ANS 2015-ANM-3277-OE, dated February 8, 2016 Exhibit 6 Advisory Notes to Applicant City of Renton Department of Community & Economic Development Environmental Review Committee Report SOUTHPORT OFFICE HELIPAD LUA18-000115, ECF, CU-H Report of March 12, 2018 Page 4 of 8 ERC_Report_Southport_Office_Helipad D. Environmental Impacts The Proposal was circulated and reviewed by various City Departments and Divisions to determine whether the applicant has adequately identified and addressed environmental impacts anticipated to occur in conjunction with the proposed development. Staff reviewers have identified that the proposal is likely to have the following probable impacts: 1. Earth Impacts: The overall site is flat. The proposed helipad use is located on top of a 9-story structure that is currently under construction (Building Permit No. B15005270). When complete, Tower 2 would have a total gross building area of 257,163 square feet (253,156 square feet of office and 4,007 square feet of retail). Tower 2 is anticipated to be complete by December 2018. Mitigation Measures: No further mitigation recommended. Nexus: N/A 2. Air Impacts: It is anticipated that some temporary air quality impacts could be associated with site work and building construction required to complete the proposed project at this site. Project development impacts would include the construction of the concrete helipad, construction of a pathway, and installation of helipad lights and signage. These construction emissions would be temporary impacts to air. Following the project completion, a small amount of emissions would be created by operating the turbine engines of the helicopter(s). Quantities of turbine engine emissions would depend on flight frequency. Turbine engine emissions are anticipated to be minimal over the course of the year when compared to the emissions created by the nearby Renton Airport. The proposed helipad is not anticipated to be in conflict with the Renton Airport. Modern helicopters are able to reduce both noise and emissions by shutting down engines and rotor systems within approximately 30 seconds of landing. As a condition of use, SECO Development, Inc. is anticipated to require helicopter pilots to limit engine running times while on the helipad to minimum durations that are consistent with sound operational policies and engine manufacturer recommendations. No further site specific mitigation for the identified impacts from construction vehicle exhaust or helicopter turbine engine emissions is required. Mitigation Measures: No further mitigation recommended. Nexus: N/A 3. Wildlife Impacts: Washington Department of Fish and Wildlife Priority Habitats and Species database lists two (2) bald eagle nests within one mile of the project site. Additionally, osprey presence is documented less than a half mile from the project site. These large birds of prey typically nest and feed over large bodies of open water and would likely fly over the project site. Great blue herons are widespread in western Washington. Outside of breeding, which occurs in tall trees, commonly away from human disturbance, the birds are most often observed in and along rivers, lakes, and City of Renton Department of Community & Economic Development Environmental Review Committee Report SOUTHPORT OFFICE HELIPAD LUA18-000115, ECF, CU-H Report of March 12, 2018 Page 5 of 8 ERC_Report_Southport_Office_Helipad wetlands. The waters of Lake Washington are likely used by foraging and resting herons throughout the year. The entire project area is highly developed or disturbed. The habita t structure on the property is virtually non-existent. The lack of structural diversity limits food and cover opportunities for most wildlife species, including songbirds and small mammals. Small birds may fly over the site in order to reach the adjacent Gene Coulon Memorial Beach Park, which provides significantly more habitat value than the project site. The general use of helicopters would not be more intense than that of permitted seaplanes, airplanes and vehicular noise from I-405. As a result, the wildlife in this area have adapted to a noisy environment. Mitigation Measures: No further mitigation recommended. Nexus: N/A 4. Energy and Natural Resources Impacts: Electricity would be used to operate the lights required for the helipad. It is anticipated that fewer than 4 amps of power would be necessary to operate all electrical fixtures. Light- emitting diode (LED) electrical fixtures would only be active during landings, takeoffs, loading and unloading procedures. Good helipad design dictates the use of low-light LED fixtures to help pilots maintain adequate night vision. Mitigation Measures: No further mitigation recommended. Nexus: N/A a. Noise Impacts: Temporary construction noise during building of the operational use of the helipad are anticipated. The sound of a helicopter fluctuates with the nearness or proximity of the main rotor, the anti-torque system (tail rotor), the engine(s), and the drive systems. For turbine-powered helicopters, the main rotor and anti-torque system dominate the acoustical signature. The most noticeable acoustical characteristic of a helicopter is the modulation of sound by the relatively slow-turning main rotor. This modulation attracts attention. These temporary noises are not anticipated to create significantly high levels of sound over long intervals. Helicopter noises are not constant due to its periodic impulsive characteristics – they come and then they leave. The noise created by a helicopter is a transient sound and the very nature of the private helipad would generate infrequent uses. At 1,000 feet a light/small helicopter has a decibel level of 65 dB(A). A doubling of height or distance would reduce the level by six to seven dB(A). Helicopters generate the most sound upon landing. Helicopter noise during landings, takeoff, and start-up and cool- down periods is expected with the use. The entire event (landings and takeoffs) normally takes less than a minute to complete. Without mitigation, establishment of a heliport has the potential to create negative impacts on the development of adjacent land. In general, n oise generated by light- turbine helicopters is a primary concern for helipad use. According to the applicant, noise generated by modern light-turbine helicopters continue to be reduced by technological improvements to engines and rotor systems. Modern light-turbine helicopters have considerable reduced noise levels compared to older helicopters with thirty- second post-landing cool-down periods. These periods are required by engine manufacturers to City of Renton Department of Community & Economic Development Environmental Review Committee Report SOUTHPORT OFFICE HELIPAD LUA18-000115, ECF, CU-H Report of March 12, 2018 Page 6 of 8 ERC_Report_Southport_Office_Helipad allow dissimilar metals to cool thereby reducing component wear. Similar running periods are required prior to takeoff. This is an improvement over engines of just a decade ago that required two-minute cool down times. The applicant is recommending that the helicopters operators would be required to limit engine and rotor-system running times to the minimum necessary for safe operations and consistency with helicopter and engine manufacturer recommendations. No idling for prolonged periods and no hovering would be allowed over the Southport Office Complex. Therefore, staff recommends a SEPA noise abatement mitigation measure that the applicant require the operator of the Southport Office Helipad to limit engine and rotor-system running times to the minimum necessary for safe operations and consistency with helicopter and engine manufacturer recommendations. The applicant indicates that the location of the helipad, near the south end of Tower 2, and the relative arrangement of Tower 2 and Tower 3 are anticipated to have a noise limiting impact on the nearby uses. The nearest residential structures from the proposed helipad are Bristol I and Bristol II located approximately 700 feet north and 400 feet east, respectively. Together The Bristol Luxury Residences include 692 residential units. According to the applicant, the line-of-sight from the Bristol properties is blocked by Tower 2 and Tower 3. Tower 3 extends a considerable distance south of Tower 2, thus blocking visibility of the helipad and reducing noise impacts to the Bristol II complex. In addition, the applicant projects that noise impacts would be reduced due to the parapet wall located on Tower 2 and the approximate 40 foot height difference between Tower 2 and the apartments. The higher flight altitude is anticipated to reduce citizen concerns. In addition to being in close proximity to the residential units, t he helipad is also located near the new 347 Room Hyatt Regency Hotel & Conference Center and Gene Coulon Memorial Beach Park. The applicant considers the helipad complimentary to hotel operations by providing a high-end feature to serve clients. The applicant is anticipating a helicopter flight operations to be conducted south of Tower 2, which is south of the hotel. Flight path is critical when mitigating sound. However, the City of Renton cannot regulate flight paths. The Federal Aviation Administration (FAA) regulates most aspects of flight. According to the applicant, primary concepts of the Helicopter Association International’s (HAI) Fly Neighborly Program would be employed at this helipad. “Fly Neighborly” is used by helicopter operators as an effective voluntary program to minimize noise levels in urban communities. Also, “Fly Neighborly” procedures include noise abatement techniques for use in daily operations, such as avoiding noise -sensitive areas, flying at airspeeds consistent with minimum noise output, using steeper descents and ascents, gradual and smooth control inputs, and eliminating sharp turns. Therefore, staff recommends a SEPA noise mitigation measure that the applicant require the operator of the Southport Office Helipad to employ Helicopter Association International’s (HAI) Fly Neighborly Program. The helipad would be located east of the Renton Municipal Airport, west of the I-405 Freeway and south of Lake Washington. According to the applicant, the proposed helipad is expected to have minimal effect on adjacent properties due to the existing high level of noises generated by aircraft from the airport, vehicular traffic from I-405, boat and seaplane activity on Lake Washington, Boeing plant operations, and general activities/events found in metropolitan areas such as street traffic and emergency vehicle sirens. Thus, the rise above the ambient noise level could be almost indistinguishable due to the very low frequency and duration. The frequency of the helicopter trips, including the number of takeoffs and landings or the hours of operation, was not identified by the applicant. Due to the proximity to the hotel, apartments, and City of Renton Department of Community & Economic Development Environmental Review Committee Report SOUTHPORT OFFICE HELIPAD LUA18-000115, ECF, CU-H Report of March 12, 2018 Page 7 of 8 ERC_Report_Southport_Office_Helipad public parks the helipad could alter the quality of life if utilized regularly and without curfews for arrivals and departures. In order to reduce the impact of the noise generated by the helipad, staff is recommending three additional mitigation measures to reduce the noise levels and noise duration impacts: 1) Helipad operating hours shall be restricted to the hours between seven o’clock (7:00) a.m. and eight o’clock (8:00) p.m., Monday through Friday. Operating hours on Saturdays shall be restricted to the hours between nine o’clock (9:00) a.m. and six o’clock (6:00) p.m. No flights sh all be permitted on Sundays; 2) The helipad shall be restricted to a maximum of twelve (12) landings and takeoff per week; and 3) The helipad shall be restricted to light-turbine helicopters only, except for larger helicopters in case of an emergency. Mitigation Measures: 1. The Southport Office Helipad operator shall limit engine and rotor-system running times to the minimum necessary for safe operations and consistency with helicopter and engine manufacturer recommendations. 2. The operator of the Southport Office Helipad shall employ Helicopter Association International’s (HAI) Fly Neighborly Program. 3. Helipad operating hours shall be restricted to the hours between seven o’clock (7:00) a.m. and eight o’clock (8:00) p.m., Monday through Friday. Operating hours on Saturdays shall be restricted to the hours between nine o’clock (9:00) a.m. and six o’clock (6:00) p.m. No flights shall be permitted on Sundays. 4. The helipad shall be restricted to a maximum of twelve (12) landings and takeoff per week. 5. The helipad shall be restricted to light-turbine helicopters only, except for larger helicopters in case of an emergency. Nexus: RMC 4-9-070, Environmental Review Procedures and RMC Chapter 7, Noise Level Regulations. 5. Aesthetics Impacts: When completed, Tower 2 would be 177 feet above mean sea level and 125 feet above finished grade. No views in the immediate vicinity would be altered or obstructed with the addition of the helipad on top of Tower 2. The helipad structure would not be visible to the general public. During use, helicopters may be somewhat visible on the roof. The helicopter would not be considered aesthetically displeasing. Mitigation Measures: No further mitigation recommended. Nexus: N/A 6. Light and Glare Impacts: During the hours of darkness a lighted wind indicator would be visible to those within the line of sight. Helipad perimeter lights would not be visible to the public nor would they create high levels of glare due to LED technology. Glare is not expected to be created by any element of the helipad or helicopter. Mitigation Measures: No further mitigation recommended. Nexus: N/A City of Renton Department of Community & Economic Development Environmental Review Committee Report SOUTHPORT OFFICE HELIPAD LUA18-000115, ECF, CU-H Report of March 12, 2018 Page 8 of 8 ERC_Report_Southport_Office_Helipad 7. Transportation Impacts: The Southport Office Complex is served by a private internal road network within the Southport development, Lake Washington Blvd N, I-405, along with several other local roads. The proposal is not expected to create any new vehicle trips nor would the helipad reduce the need for onsite vehicle parking. Given the overall proximity to the Renton Airport, the helicopters coming and going are not anticipated to be a dangerous distraction to drivers or a hazard to nearby pedestrians. On February 8, 2016, the Federal Aviation Administration conducted an aeronautical study (ANS 2015-ANM-3277-OE) concerning Building OSP Building #2. The aeronautical study revealed that the structure does not exceed obstruction standards and it would not be a hazard to air navigation. The FAA determination expired on August 8, 2017 (Exhibit 5). The applicant would need to complete all required FAA Forms to construct or otherwise establish a new helipad. Mitigation Measures: No further mitigation recommended. Nexus: N/A 8. Public Services Impacts: The helipad is not anticipated to create a need for additional services, unless in the event of an accident or incident. The helipad would be constructed to comply with appli cable building and fire codes. Mitigation Measures: No further mitigation recommended. Nexus: N/A E. Comments of Reviewing Departments The proposal has been circulated to City Department and Division Reviewers. Where applicable, their comments have been incorporated into the text of this report and/or “Advisory Notes to Applicant.”  Copies of all Review Comments are contained in the Official File and are also attached to this report (Exhibit 6). The Environmental Determination decision will become final if the decision is not appealed within the 14-day appeal period (RCW 43.21.C.075(3); WAC 197-11-680). Environmental Determination Appeal Process: Appeals of the environmental determination must be filed in writing together with the required fee to: Hearing Examiner, City of Renton, 1055 South Grady Way, Renton, WA 98057, on or before 5:00 p.m. on March 30, 2018. RMC 4-8-110 governs appeals to the Hearing Examiner and additional information regarding the appeal process may be obtained f rom the City Clerk’s Office, Renton City Hall – 7th Floor, (425) 430-6510. TRUE NORTH HYATT REGENCY HOTEL SOUTHPORT OFFICE COMPLEX THREE TOWERS PROPOSED HELIPAD BRISTOL I BRISTOL II SOUTHPORT OFFICE HELIPAD CONDITIONAL USE PERMIT APPLICATION NEIGHBORHOOD DETAIL MAP AIRSAFE PO BOX 287 GREENBANK, WA 98253 (360) 678-0345 1" = 200' PROPERTY BOUNDARY SCALE 1" = 40' SOUTHPORT OFFICE COMPLEX HELIPAD 1/30/2018 65'-4"55'-8" 30' 30' 306'-5" 118'-3" Memorandum DATE November 9, 2017 TO Rocale Timmons Seco Development FROM Brian MacRae PROJECT Southport Office CPL PROJECT # S140194-11 SUBJECT Helipad Tower 2 Structure ATTACHMENTS N/A The area for the helipad is bounded by grids 11-12 and M.5-N.5 at the roof of tower 2. The structural system is an 8” post-tensioned concrete slab with 16” post-tensioned wide-shallow beams in the E-W direction on column lines. The slab and wide-shallow beams are supported by concrete columns which are supported by pile caps at the foundation. The helipad load-bearing area is 30’ by 30’ (900 SF) in size. The helipad has adequate capacity to meet at a minimum the loading requirements of the 2015 IBC section 1607.6. The helipad is capable of accommodating helicopters weighing up to 10,000 pounds. The following loading combinations were used in the design of the helipad which meet and at times exceed those of the 2015 IBC: 1. Dead load, D, plus the gross weight of the helicopter, Dh, plus snow load, S. 2. Dead load, D, plus two single concentrated impact loads, L, approximately 8 feet apart applied anywhere on the landing area, having a magnitude of 0.75 times the gross weight of the helicopter. Both loads acting together total one-and-one half times the gross weight of the helicopter. 3. Dead load, D, plus a uniform live load, L, of 100 psf. Brian MacRae, P.E., S.E. Project Manager Mail Processing Center Federal Aviation Administration Southwest Regional Office Obstruction Evaluation Group 10101 Hillwood Parkway Fort Worth, TX 76177 Aeronautical Study No. 2015-ANM-3277-OE Page 1 of 4 Issued Date: 02/08/2016 Derek Janke Offices at Southport LLC 1083 Lake Washington Blvd Suite 50 Renton, WA 98056 ** DETERMINATION OF NO HAZARD TO AIR NAVIGATION ** The Federal Aviation Administration has conducted an aeronautical study under the provisions of 49 U.S.C., Section 44718 and if applicable Title 14 of the Code of Federal Regulations, part 77, concerning: Structure:Building OSP Building #2 Location:Renton, WA Latitude:47-30-06.93N NAD 83 Longitude:122-12-13.68W Heights:22 feet site elevation (SE) 156 feet above ground level (AGL) 178 feet above mean sea level (AMSL) This aeronautical study revealed that the structure does not exceed obstruction standards and would not be a hazard to air navigation provided the following condition(s), if any, is(are) met: It is required that FAA Form 7460-2, Notice of Actual Construction or Alteration, be e-filed any time the project is abandoned or: _____ At least 10 days prior to start of construction (7460-2, Part 1) __X__ Within 5 days after the construction reaches its greatest height (7460-2, Part 2) Based on this evaluation, marking and lighting are not necessary for aviation safety. However, if marking/ lighting are accomplished on a voluntary basis, we recommend it be installed and maintained in accordance with FAA Advisory circular 70/7460-1 L. The structure considered under this study lies in proximity to an airport and occupants may be subjected to noise from aircraft operating to and from the airport. Any height exceeding 156 feet above ground level (178 feet above mean sea level), will result in a substantial adverse effect and would warrant a Determination of Hazard to Air Navigation. This determination expires on 08/08/2017 unless: Page 2 of 4 (a)the construction is started (not necessarily completed) and FAA Form 7460-2, Notice of Actual Construction or Alteration, is received by this office. (b)extended, revised, or terminated by the issuing office. (c)the construction is subject to the licensing authority of the Federal Communications Commission (FCC) and an application for a construction permit has been filed, as required by the FCC, within 6 months of the date of this determination. In such case, the determination expires on the date prescribed by the FCC for completion of construction, or the date the FCC denies the application. NOTE: REQUEST FOR EXTENSION OF THE EFFECTIVE PERIOD OF THIS DETERMINATION MUST BE E-FILED AT LEAST 15 DAYS PRIOR TO THE EXPIRATION DATE. AFTER RE-EVALUATION OF CURRENT OPERATIONS IN THE AREA OF THE STRUCTURE TO DETERMINE THAT NO SIGNIFICANT AERONAUTICAL CHANGES HAVE OCCURRED, YOUR DETERMINATION MAY BE ELIGIBLE FOR ONE EXTENSION OF THE EFFECTIVE PERIOD. This determination is based, in part, on the foregoing description which includes specific coordinates , heights, frequency(ies) and power . Any changes in coordinates , heights, and frequencies or use of greater power will void this determination. Any future construction or alteration , including increase to heights, power, or the addition of other transmitters, requires separate notice to the FAA. This determination does include temporary construction equipment such as cranes, derricks, etc., which may be used during actual construction of the structure. However, this equipment shall not exceed the overall heights as indicated above. Equipment which has a height greater than the studied structure requires separate notice to the FAA. This determination concerns the effect of this structure on the safe and efficient use of navigable airspace by aircraft and does not relieve the sponsor of compliance responsibilities relating to any law, ordinance, or regulation of any Federal, State, or local government body. Any failure or malfunction that lasts more than thirty (30) minutes and affects a top light or flashing obstruction light, regardless of its position, should be reported immediately to (877) 487-6867 so a Notice to Airmen (NOTAM) can be issued. As soon as the normal operation is restored, notify the same number. If we can be of further assistance, please contact our office at (202) 267-3215. On any future correspondence concerning this matter, please refer to Aeronautical Study Number 2015-ANM-3277-OE. Signature Control No: 269629960-280429997 ( DNE ) Kerryaine Yarber Technician Attachment(s) Map(s) Page 3 of 4 TOPO Map for ASN 2015-ANM-3277-OE Page 4 of 4 Sectional Map for ASN 2015-ANM-3277-OE DEPARTMENT OF COMMUNITY AND ECONOMIC DEVELOPMENT Page 1 of 1 LUA18-000115 ADVISORY NOTES TO APPLICANT The following notes are supplemental information provided in conjunction with the administrative land use action. Because these notes are provided as information only, they are not subject to the appeal process for the land use action. Planning: (Contact: Clark H. Close, 425-430-7289, cclose@rentonwa.gov) 1. RMC section 4-4-030.C.2 limits haul hours between 8:30 am to 3:30 pm, Monday through Friday unless otherwise approved by the Development Services Division. 2. Commercial and other nonresidential construction activities shall be restricted to the hours between seven o’clock (7:00) a.m. and eight o’clock (8:00) p.m., Monday through Friday. Work on Saturdays shall be restricted to the hours between nine o’clock (9:00) a.m. and eight o’clock (8:00) p.m. No work shall be permitted on Sundays. 3. This permit shall comply with the Bald and Golden Eagle Protection Act. The permitted is responsible for adhering to the U.S. Fish and Wildlife Service National Bald Eagle Management Guidelines (2007) and /or your U.S. Fish and Wildlife Service permit. Development Engineering: (Contact: Ian Fitz-James, 425-430-7288, IFitz-James@rentonwa.gov) 1. See Attached Development Engineering Memo dated March 8, 2018. Fire Authority: (Contact: Corey Thomas, 425-430-7024, cthomas@rentonwa.gov) 1. Proposed helistop shall comply with Section 2007 of the International Fire Code, 2015 Edition. 2. Fuel spill control shall be provided. 3. Proper exit stair shall be provided. 4. Fire Standpipe shall be provided. 5. A type 80BC rated portable fire extinguisher shall be provided. Technical Services: (Contact: Amanda Askren, 425-430-7369, aaskren@rentonwa.gov) 1. Reviewed, no comment. Community Services: (Contact: Leslie Betlach, 425-430-6619, lbetlach@rentonwa.gov) 1. Reviewed, no comment. Police: (Contact: Cyndie Parks, 425-430-7521, cparks@rentonwa.gov) 1. Reviewed, no comment. Building: (Contact: Craig Burnell, 425-430-7290, cburnell@rentonwa.gov) 1. Reviewed, no comment. K:\Projects\2014\PR14000082_SOUTHPORT\LUA18000115\08.Review Comments - Drafts\C_Civil Advisory Notes LU17000115_180308_v1.docx DEPARTMENT OF COMMUNITY & ECONOMIC DEVELOPMENT M E M O R A N D U M DATE:March 8, 2018 TO:Clark Close, Senior Planner FROM:Ian Fitz-James, Civil Engineer III SUBJECT:Utility and Transportation Comments for Southport Helipad LUA18-000115 I have reviewed the application for the Southport Helipad proposed for the roof of Tower 2 in the Southport Office Towers located at 1101 Lake Washington Boulevard N. and have the following comments: WATER COMMENTS 1.Any standpipe that is required to serve the helipad that is connected to the City’s water system must be protected by an approved backflow prevention assembly. SEWER COMMENTS 1. The proposal will not require any sanitary sewer improvements. STORM DRAINAGE COMMENTS 1. Based on the information provided in the application and further review of the 2017 Renton Surface Water Design Manual (RSWDM) and the 2014 Washington Department of Ecology Stormwater Management Manual for Western Washington (SWMMWW), the City does not consider the helipad to be pollution generating impervious surface (PGIS). No additional stormwater improvements will be required for the proposed helipad. The approved drainage plans and technical information report on file for the Southport Office Towers already accounts for the helipad surface as non-pollution generating impervious surface. a) The 2017 RSWDM defines “PGIS” as surfaces subject to vehicular use, industrial activities, or storage of erodible or leachable materials, wastes, or chemicals and that receive direct rainfall or the run-on or blow-in of rainfall. The 2017 RSWDM also defines “subject to vehicular use” as a surface regularly used by motor vehicles including but not limited to motorcycles, cars, trucks, buses, aircraft, tractors, and heavy equipment. The definition goes on to provide examples of surfaces subject to vehicular use and not subject to vehicular use. The following surfaces are considered regularly used by motor vehicles by the 2017 RSWDM: roads, un-vegetated road shoulders, bike lanes within the traveled lane of a roadway, driveways, parking lots, unrestricted access fire Southport Helipad – LUA18-000115 Page 2 of 2 March 8, 2018 K:\Projects\2014\PR14000082_SOUTHPORT\LUA18000115\08.Review Comments - Drafts\C_Civil Advisory Notes LU17000115_180308_v1.docx lanes, vehicular equipment storage yards, and airport taxiways and runways. The following surfaces are not considered regularly used by motor vehicles by the 2017 RSWDM: paved bicycle pathways separated from and not subject to drainage from roads for motor vehicles, fenced or restricted access fire lanes, and maintenance access roads with a recurring use of no more than one routine vehicle access per week. b) The 2014 SWMMWW defines vehicular use as the regular use of an impervious or pervious surface by motor vehicles. The 2014 SWMMWW goes on to provide examples of surfaces subject to vehicular use and not subject to vehicular use. The following surfaces are considered subject to regular vehicular use by the 2014 SWMMWW: roads, un-vegetated road shoulders, bike lanes within the traveled lane of a roadway, driveways, parking lots, unrestricted access fire lanes, vehicular equipment storage yards, and airport runways. The following are not considered subject to regular vehicular use by the 2014 SWMMWW: paved bicycle pathways separated from and not subject to drainage from roads for motor vehicles, restricted access fire lanes, and infrequently used maintenance access roads. The proposed helipad is similar in function to that of a restricted access maintenance road which is not considered PGIS by both the 2017 RSWDM and 2014 SWMMWW. The risk of leaking fluids is negligible. There is no pollution being emitting from brake pads since helicopters do not require runways to take off and land. TRANSPORTATION/STREET COMMENTS 1.The proposal will not generate any new traffic and will not require any improvements to the nearby public streets. TRUE NORTH HYATT REGENCY HOTEL SOUTHPORT OFFICE COMPLEX THREE TOWERS PROPOSED HELIPAD BRISTOL I BRISTOL II SOUTHPORT OFFICE HELIPAD CONDITIONAL USE PERMIT APPLICATION NEIGHBORHOOD DETAIL MAP AIRSAFE PO BOX 287 GREENBANK, WA 98253 (360) 678-0345 1" = 200' PROPERTY BOUNDARY SCALE 1" = 40' SOUTHPORT OFFICE COMPLEX HELIPAD 1/30/2018 65'-4"55'-8" 30' 30' 306'-5" 118'-3" Memorandum DATE November 9, 2017 TO Rocale Timmons Seco Development FROM Brian MacRae PROJECT Southport Office CPL PROJECT # S140194-11 SUBJECT Helipad Tower 2 Structure ATTACHMENTS N/A The area for the helipad is bounded by grids 11-12 and M.5-N.5 at the roof of tower 2. The structural system is an 8” post-tensioned concrete slab with 16” post-tensioned wide-shallow beams in the E-W direction on column lines. The slab and wide-shallow beams are supported by concrete columns which are supported by pile caps at the foundation. The helipad load-bearing area is 30’ by 30’ (900 SF) in size. The helipad has adequate capacity to meet at a minimum the loading requirements of the 2015 IBC section 1607.6. The helipad is capable of accommodating helicopters weighing up to 10,000 pounds. The following loading combinations were used in the design of the helipad which meet and at times exceed those of the 2015 IBC: 1. Dead load, D, plus the gross weight of the helicopter, Dh, plus snow load, S. 2. Dead load, D, plus two single concentrated impact loads, L, approximately 8 feet apart applied anywhere on the landing area, having a magnitude of 0.75 times the gross weight of the helicopter. Both loads acting together total one-and-one half times the gross weight of the helicopter. 3. Dead load, D, plus a uniform live load, L, of 100 psf. Brian MacRae, P.E., S.E. Project Manager Mail Processing Center Federal Aviation Administration Southwest Regional Office Obstruction Evaluation Group 10101 Hillwood Parkway Fort Worth, TX 76177 Aeronautical Study No. 2015-ANM-3277-OE Page 1 of 4 Issued Date: 02/08/2016 Derek Janke Offices at Southport LLC 1083 Lake Washington Blvd Suite 50 Renton, WA 98056 ** DETERMINATION OF NO HAZARD TO AIR NAVIGATION ** The Federal Aviation Administration has conducted an aeronautical study under the provisions of 49 U.S.C., Section 44718 and if applicable Title 14 of the Code of Federal Regulations, part 77, concerning: Structure:Building OSP Building #2 Location:Renton, WA Latitude:47-30-06.93N NAD 83 Longitude:122-12-13.68W Heights:22 feet site elevation (SE) 156 feet above ground level (AGL) 178 feet above mean sea level (AMSL) This aeronautical study revealed that the structure does not exceed obstruction standards and would not be a hazard to air navigation provided the following condition(s), if any, is(are) met: It is required that FAA Form 7460-2, Notice of Actual Construction or Alteration, be e-filed any time the project is abandoned or: _____ At least 10 days prior to start of construction (7460-2, Part 1) __X__ Within 5 days after the construction reaches its greatest height (7460-2, Part 2) Based on this evaluation, marking and lighting are not necessary for aviation safety. However, if marking/ lighting are accomplished on a voluntary basis, we recommend it be installed and maintained in accordance with FAA Advisory circular 70/7460-1 L. The structure considered under this study lies in proximity to an airport and occupants may be subjected to noise from aircraft operating to and from the airport. Any height exceeding 156 feet above ground level (178 feet above mean sea level), will result in a substantial adverse effect and would warrant a Determination of Hazard to Air Navigation. This determination expires on 08/08/2017 unless: Page 2 of 4 (a)the construction is started (not necessarily completed) and FAA Form 7460-2, Notice of Actual Construction or Alteration, is received by this office. (b)extended, revised, or terminated by the issuing office. (c)the construction is subject to the licensing authority of the Federal Communications Commission (FCC) and an application for a construction permit has been filed, as required by the FCC, within 6 months of the date of this determination. In such case, the determination expires on the date prescribed by the FCC for completion of construction, or the date the FCC denies the application. NOTE: REQUEST FOR EXTENSION OF THE EFFECTIVE PERIOD OF THIS DETERMINATION MUST BE E-FILED AT LEAST 15 DAYS PRIOR TO THE EXPIRATION DATE. AFTER RE-EVALUATION OF CURRENT OPERATIONS IN THE AREA OF THE STRUCTURE TO DETERMINE THAT NO SIGNIFICANT AERONAUTICAL CHANGES HAVE OCCURRED, YOUR DETERMINATION MAY BE ELIGIBLE FOR ONE EXTENSION OF THE EFFECTIVE PERIOD. This determination is based, in part, on the foregoing description which includes specific coordinates , heights, frequency(ies) and power . Any changes in coordinates , heights, and frequencies or use of greater power will void this determination. Any future construction or alteration , including increase to heights, power, or the addition of other transmitters, requires separate notice to the FAA. This determination does include temporary construction equipment such as cranes, derricks, etc., which may be used during actual construction of the structure. However, this equipment shall not exceed the overall heights as indicated above. Equipment which has a height greater than the studied structure requires separate notice to the FAA. This determination concerns the effect of this structure on the safe and efficient use of navigable airspace by aircraft and does not relieve the sponsor of compliance responsibilities relating to any law, ordinance, or regulation of any Federal, State, or local government body. Any failure or malfunction that lasts more than thirty (30) minutes and affects a top light or flashing obstruction light, regardless of its position, should be reported immediately to (877) 487-6867 so a Notice to Airmen (NOTAM) can be issued. As soon as the normal operation is restored, notify the same number. If we can be of further assistance, please contact our office at (202) 267-3215. On any future correspondence concerning this matter, please refer to Aeronautical Study Number 2015-ANM-3277-OE. Signature Control No: 269629960-280429997 ( DNE ) Kerryaine Yarber Technician Attachment(s) Map(s) Page 3 of 4 TOPO Map for ASN 2015-ANM-3277-OE Page 4 of 4 Sectional Map for ASN 2015-ANM-3277-OE DEPARTMENT OF COMMUNITY AND ECONOMIC DEVELOPMENT Page 1 of 1 LUA18-000115 ADVISORY NOTES TO APPLICANT The following notes are supplemental information provided in conjunction with the administrative land use action. Because these notes are provided as information only, they are not subject to the appeal process for the land use action. Planning: (Contact: Clark H. Close, 425-430-7289, cclose@rentonwa.gov) 1. RMC section 4-4-030.C.2 limits haul hours between 8:30 am to 3:30 pm, Monday through Friday unless otherwise approved by the Development Services Division. 2. Commercial and other nonresidential construction activities shall be restricted to the hours between seven o’clock (7:00) a.m. and eight o’clock (8:00) p.m., Monday through Friday. Work on Saturdays shall be restricted to the hours between nine o’clock (9:00) a.m. and eight o’clock (8:00) p.m. No work shall be permitted on Sundays. 3. This permit shall comply with the Bald and Golden Eagle Protection Act. The permitted is responsible for adhering to the U.S. Fish and Wildlife Service National Bald Eagle Management Guidelines (2007) and /or your U.S. Fish and Wildlife Service permit. Development Engineering: (Contact: Ian Fitz-James, 425-430-7288, IFitz-James@rentonwa.gov) 1. See Attached Development Engineering Memo dated March 8, 2018. Fire Authority: (Contact: Corey Thomas, 425-430-7024, cthomas@rentonwa.gov) 1. Proposed helistop shall comply with Section 2007 of the International Fire Code, 2015 Edition. 2. Fuel spill control shall be provided. 3. Proper exit stair shall be provided. 4. Fire Standpipe shall be provided. 5. A type 80BC rated portable fire extinguisher shall be provided. Technical Services: (Contact: Amanda Askren, 425-430-7369, aaskren@rentonwa.gov) 1. Reviewed, no comment. Community Services: (Contact: Leslie Betlach, 425-430-6619, lbetlach@rentonwa.gov) 1. Reviewed, no comment. Police: (Contact: Cyndie Parks, 425-430-7521, cparks@rentonwa.gov) 1. Reviewed, no comment. Building: (Contact: Craig Burnell, 425-430-7290, cburnell@rentonwa.gov) 1. Reviewed, no comment. K:\Projects\2014\PR14000082_SOUTHPORT\LUA18000115\08.Review Comments - Drafts\C_Civil Advisory Notes LU17000115_180308_v1.docx DEPARTMENT OF COMMUNITY & ECONOMIC DEVELOPMENT M E M O R A N D U M DATE:March 8, 2018 TO:Clark Close, Senior Planner FROM:Ian Fitz-James, Civil Engineer III SUBJECT:Utility and Transportation Comments for Southport Helipad LUA18-000115 I have reviewed the application for the Southport Helipad proposed for the roof of Tower 2 in the Southport Office Towers located at 1101 Lake Washington Boulevard N. and have the following comments: WATER COMMENTS 1.Any standpipe that is required to serve the helipad that is connected to the City’s water system must be protected by an approved backflow prevention assembly. SEWER COMMENTS 1. The proposal will not require any sanitary sewer improvements. STORM DRAINAGE COMMENTS 1. Based on the information provided in the application and further review of the 2017 Renton Surface Water Design Manual (RSWDM) and the 2014 Washington Department of Ecology Stormwater Management Manual for Western Washington (SWMMWW), the City does not consider the helipad to be pollution generating impervious surface (PGIS). No additional stormwater improvements will be required for the proposed helipad. The approved drainage plans and technical information report on file for the Southport Office Towers already accounts for the helipad surface as non-pollution generating impervious surface. a) The 2017 RSWDM defines “PGIS” as surfaces subject to vehicular use, industrial activities, or storage of erodible or leachable materials, wastes, or chemicals and that receive direct rainfall or the run-on or blow-in of rainfall. The 2017 RSWDM also defines “subject to vehicular use” as a surface regularly used by motor vehicles including but not limited to motorcycles, cars, trucks, buses, aircraft, tractors, and heavy equipment. The definition goes on to provide examples of surfaces subject to vehicular use and not subject to vehicular use. The following surfaces are considered regularly used by motor vehicles by the 2017 RSWDM: roads, un-vegetated road shoulders, bike lanes within the traveled lane of a roadway, driveways, parking lots, unrestricted access fire Southport Helipad – LUA18-000115 Page 2 of 2 March 8, 2018 K:\Projects\2014\PR14000082_SOUTHPORT\LUA18000115\08.Review Comments - Drafts\C_Civil Advisory Notes LU17000115_180308_v1.docx lanes, vehicular equipment storage yards, and airport taxiways and runways. The following surfaces are not considered regularly used by motor vehicles by the 2017 RSWDM: paved bicycle pathways separated from and not subject to drainage from roads for motor vehicles, fenced or restricted access fire lanes, and maintenance access roads with a recurring use of no more than one routine vehicle access per week. b) The 2014 SWMMWW defines vehicular use as the regular use of an impervious or pervious surface by motor vehicles. The 2014 SWMMWW goes on to provide examples of surfaces subject to vehicular use and not subject to vehicular use. The following surfaces are considered subject to regular vehicular use by the 2014 SWMMWW: roads, un-vegetated road shoulders, bike lanes within the traveled lane of a roadway, driveways, parking lots, unrestricted access fire lanes, vehicular equipment storage yards, and airport runways. The following are not considered subject to regular vehicular use by the 2014 SWMMWW: paved bicycle pathways separated from and not subject to drainage from roads for motor vehicles, restricted access fire lanes, and infrequently used maintenance access roads. The proposed helipad is similar in function to that of a restricted access maintenance road which is not considered PGIS by both the 2017 RSWDM and 2014 SWMMWW. The risk of leaking fluids is negligible. There is no pollution being emitting from brake pads since helicopters do not require runways to take off and land. TRANSPORTATION/STREET COMMENTS 1.The proposal will not generate any new traffic and will not require any improvements to the nearby public streets. DEPARTMENT OF COMMUNITY AND ECONOMIC DEVELOPMENT ENVIRONMENTAL (SEPA) DETERMINATION OF NON-SIGNIFICANCE - MITIGATED (DNS-M) PROJECT NUMBER: LUA18-000115, CU-H, ECF APPLICANT: David Ketchum, Airsafe / PO Box 287 Greenbank, WA 98253 PROJECT NAME: Southport Office Helipad PROJECT DESCRIPTION: The applicant is requesting a Hearing Examiner Conditional Use Permit (CUP) and Environmental (SEPA) Review to construct a rooftop helipad near the south end of Tower 2 at the Southport Office Complex. The structure on which the helipad is proposed is part of a three-structure office complex that has been permitted separately and is currently under construction. Tower 2 is located in the Urban Center (UC) zoning district on a 245,086 square feet (5.63 acres) parcel at 1101 Lake Washington Blvd N. The 9 -story Southport Office Building 2 has been designed to support a thickened concrete helipad slab measuring 30 ft x 30 ft (900 sf) in size. The helipad would be classified as “private-use” helipad for light-turbine helicopters, classified as H-1. The surrounding landmarks include Renton Municipal Airport to the west, I -405 Freeway to the east and Lake Washington approximately 650 feet to the north. The proposed helipad is expected to have minimal effect on adjacent properties. PROJECT LOCATION: 1101 Lake Washington Blvd N Renton, WA 98056 LEAD AGENCY: City of Renton Environmental Review Committee Department of Community & Economic Development The City of Renton Environmental Review Committee has determined that it does not have a probable significant adverse impact on the environment. An Environmental Impact Statement (EIS) is not required under RCW 43.21C.030(2)(c). Conditions were imposed as mitigation measures by the Environmental Review Comm ittee under their authority of Section 4-9-070D Renton Municipal Code. These conditions are necessary to mitigate environmental impacts identified during the environmental review process. Because other agencies of jurisdiction may be involved, the lead agency will not act on this proposal for fourteen (14) days. Appeals of the environmental determination must be filed in writing on or before 5:00 p.m. on March 30, 2018. Appeals must be filed in writing together with the required fee with: Hearing Examiner, City of Renton, 1055 South Grady Way, Renton, WA 98057. Appeals to the Examiner are governed by RMC 4-8-110 and more information may be obtained from the Renton City Clerk’s Office, (425) 430-6510. PUBLICATION DATE: MARCH 16, 2018 DATE OF DECISION: MARCH 12, 2018 DEPARTMENTOFCOMMUNITYANDECONOMICDEVELOPMENTSIGNATURES:0GreggZimrm,AministratorPublicWorIsDepartmentKelyBeymer,AministratorCommunityServicesDepartme3)iz)’isDatRickM.Marshall,AdministratorRentonRegionalFireAuthorityJzfDateC.E.ChipVincent,AdministratorDepartmentofCommunity&EconomicDevelopmentDate ERC Mitigation Measures and Advisory Notes Page 1 of 5 DETERMINATION OF NON-SIGNIFICANCE – MITIGATED (DNS-M) MITIGATION MEASURES AND ADVISORY NOTES PROJECT NUMBER: LUA18-000115, ECF, CU-H APPLICANT: David Ketchum, Airsafe / PO Box 287 Greenbank, WA 98253 / (360) 678-0345 / David@airsafeheliports.com PROJECT NAME: Southport Office Helipad PROJECT DESCRIPTION: The applicant is requesting a Hearing Examiner Conditional Use Permit (CUP) and Environmental (SEPA) Review to construct a rooftop helipad near the south end of Tower 2 at the Southport Office Complex. The structure on which the helipad is proposed is part of a three-structure office complex that has been permitted separately and is currently under construction. Tower 2 is located in the Urban Center (UC) zoning district on a 245,086 square feet (5.63 acres) parcel at 1101 Lake Washington Blvd N. The 9-story Southport Office Building 2 has been designed to support a thickened concrete helipad slab measuring 30 ft x 30 ft (900 sf) in size. The helipad would be classified as “private-use” helipad for light-turbine helicopters, classified as H-1. The surrounding landmarks include Renton Municipal Airport to the west, I-405 Freeway to the east and Lake Washington approximately 650 feet to the north. The proposed helipad is expected to have minimal effect on adjacent properties. PROJECT LOCATION: 1101 Lake Washington Blvd N Renton, WA 98056 LEAD AGENCY: The City of Renton Department of Community & Economic Development Planning Division MITIGATION MEASURES: 1. The Southport Office Helipad operator shall limit engine and rotor-system running times to the minimum necessary for safe operations and consistency with helicopter and engine manufacturer recommendations. 2. The operator of the Southport Office Helipad shall employ Helicopter Association International’s (HAI) Fly Neighborly Program. 3. Helipad operating hours shall be restricted to the hours between seven o’clock (7:00) a.m. and eight o’clock (8:00) p.m., Monday through Friday. Operating hours on Saturdays shall be restricted to the hours between nine o’clock (9:00) a.m. and six o’clock (6:00) p.m. No flights shall be permitted on Sundays. 4. The helipad shall be restricted to a maximum of twelve (12) landings and takeoff per week. 5. The helipad shall be restricted to light-turbine helicopters only, except for larger helicopters in case of an emergency. Nexus: RMC 4-9-070, Environmental Review Procedures and RMC Chapter 7, Noise Level Regulations. K:\Projects\2014\PR14000082_SOUTHPORT\LUA18000115 DEPARTMENT OF COMMUNITY & ECONOMIC DEVELOPMENT M E M O R A N D U M DATE: April 12, 2018 TO: Environmental Review Committee (ERC) FROM: Clark H. Close, Senior Planner SUBJECT: Southport Office Helipad (LUA18-000115) – Request for Reconsideration for SEPA Determination of Non- Significance Mitigated (DNS-M) The Environmental Review Committee (ERC) reviewed the above mentioned conditional use permit application and issued a SEPA Determination of Non-Significance Mitigated (DNS-M) on March 12, 2018 with five (5) mitigation measures: 1. The Southport Office Helipad operator shall limit engine and rotor-system running times to the minimum necessary for safe operations and consistency with helicopter and engine manufacturer recommendations. 2. The operator of the Southport Office Helipad shall employ Helicopter Association International’s Fly Neighborly Program. 3. Helipad operating hours shall be restricted to the hours between seven o’clock (7:00) a.m. and eight o’clock (8:00) p.m., Monday through Friday. Operating hours on Saturdays shall be restricted to the hours between nine o’clock (9:00) a.m. and six o’clock (6:00) p.m. No flights shall be permitted on Sundays. 4. The helipad shall be restricted to a maximum of twelve (12) landings and takeoff per week. 5. The helipad shall be restricted to light-turbine helicopters only, except for larger helicopters in case of an emergency. The DNS-M was published on March 16, 2018 with an appeal period that ended on March 30, 2018. A request for reconsideration of the SEPA determination was received on March 30, 2018 from David Ketchum with Airsafe. The request for reconsideration cites, as the primary justifications for the filing of the request for reconsideration to the ERC, flexibility to operate beyond the mitigation measures without penalty if such operations are necessitated by weather or unplanned events . In addition, the applicant is requesting clarifying language regarding SEPA mitigation measure number 4. The applicant’s request is provided as an attachment to this memorandum (Attachment 1). Below is a summary and staff responses to the concerns cited: Environmental Review Committee Page 2 of 4 April 12, 2018 K:\Projects\2014\PR14000082_SOUTHPORT\LUA18000115 A. The sponsor of this helipad would consider measures relating to stated times and maximum operations per week to be applicable to normal planned flights but should have flexibility to operate beyond the measures without penalty if such operations are necessitated by weather or unplanned events. As an example, a flight could be scheduled to depart on a weekday at 7:30 p.m. but would actually depart at 8:15 p.m. due to a hold for inclement, un-forecast weather or a passenger arriving late to their flight due to traffic related delay. With regards to the number of flights per week, a major sales or emergency activity which potential clients are brought or taken from Southport might be more productive if the maximum number of flights per week is exceeded by a flight or two. If the helipad sponsor exceeds SEPA mitigation measures nos. 3 or 4, a brief report to the City explaining events or conditions that necessitated the operations could be required. Staff Comment: The originally submitted application did not include or address unforeseen circumstances, such as inclement, un-forecasted weather events or the realities of the somewhat unpredictable travel conditions in the region that can cause passengers to be late to their various destinations. After the receipt of the request for reconsideration, the applicant provided justification to afford the Southport Helipad some flexibility to operate beyond the environmental mitigation measures if such operations are necessitated by weather or unplanned events. Weather and travel are two unpredictable events, however it should be noted that the reconsideration also sited major sales or emergency activities which potential clients are brought to or taken from Southport. Staff does not believe that sales events would be considered “unplanned” and therefore these meetings should be able to be scheduled within the parameters of the SEPA mitigation measures. The provided reconsideration request did not define “emergency activities”. Therefor staff is assuming that emergency activities are incidents that involves police and/or fire response, based on this definition staff would consider emergency activities as an unplanned event and therefore acceptable. By planning ahead and allowing for a certain level of reasonable flexibility for the helipad, this would allow the operator of the helipad some level of known insurance to operate beyond these mitigation measures if such operations are necessitated by these three factors, weather, traffic, and emergency activities. Staff recommends that a sixth SEPA mitigation measure be included that accounts for a limited number of unpredictable events, such as weather and traffic delays. B. Changing the wording of SEPA Mitigation Measure No. 4 to: “The helipad shall be restricted to twelve (12) operations per week with each operation consisting of both a landing and take-off.” Staff Comment: The proposed revision to the text of SEPA Mitigation Measure No. 4 provides clarifying language to operator of the helipad. Staff recommends Environmental Review Committee Page 3 of 4 April 12, 2018 K:\Projects\2014\PR14000082_SOUTHPORT\LUA18000115 replacing the SEPA mitigation measure text to reduce any confusion to the helipad’s number of operating flights. Recommendation: In light of the additional information provided, staff recommends that the ERC retain mitigation measures 1, 2, 3, and 5, replace mitigation measure 4, and add one new mitigation measure as follows: 1. The Southport Office Helipad operator shall limit engine and rotor-system running times to the minimum necessary for safe operations and consistency with helicopter and engine manufacturer recommendations. 2. The operator of the Southport Office Helipad shall employ Helicopter Association International’s Fly Neighborly Program. 3. Helipad operating hours shall be restricted to the hours between seven o’clock (7:00) a.m. and eight o’clock (8:00) p.m., Monday through Friday. Operating hours on Saturdays shall be restricted to the hours between nine o’clock (9:00) a.m. and six o’clock (6:00) p.m. No flights shall be permitted on Sundays. 4. The helipad shall be restricted to twelve (12) operations per week with each operation consisting of both a landing and take-off. 5. The helipad shall be restricted to light-turbine helicopters only, except for larger helicopters in case of an emergency. 6. The Operator of this helipad shall be afforded a certain level of flexibility to operate beyond SEPA mitigation measures 3 and 4, if such operations are necessitated by weather or unplanned events. At the request of the City, the operator shall provide a report explaining the event and/or condition that necessitated the deviation from permitted flight operations. EnvironmentalReviewCommitteePage4of4April12,2018Appealsoftheenvironmentaldeterminationmustbefiledinwritingonorbefore5:00p.m.onApril27,2018.Appealsmustbefiledinwritingtogetherwiththerequiredfeewith:HearingExaminer,CityofRenton,1055SouthGradyWay,Renton,WA98057.AppealstotheExamineraregovernedbyRMC4-8-110andmoreinformationmaybeobtainedfromtheRentonCityClerk’sOffice,(425)430-6510.DATEOFDECISION:April12,201$SIGNATURES:GreggZimmerman,Administrator+kM.Marshall,AdministratorPublicWorksDepartmentDateRentonRegionalFieAuthQjityDateeydminiratorC.pViinistratofrDCommunityServicesDepartmentDepartmentofCommunity&EconomicDevelopmentK:\Projects2014PR14000082_SOUTHPORflLUA18000115 AIRSAFE PO Box 287 Greenbank, WA 98253 (360) 678-0345 (office) March 30, 2018 Clark Close Senior Planner City of Renton RE: Project PR14-000082 – Southport - Request for Reconsideration Dear Mr. Close: We have the following comments regarding Part Two: Environmental Review Section B “Mitigation Measures” of the Environmental Review Committee Report. Measures 1 through 5 are logical and acceptable as standard operating practices. We request reconsideration of the Environmental Review Committee to either add a measure 6 or a present a clarifying statement following Section B relating to measures 3 and 4 that provides reasonable flexibility in case of unforeseen circumstances. Justification: The sponsor of this helipad will consider measures relating to stated times and maximum operations per week to be applicable to normal/planned flights but should have flexibility to operate beyond the measures without penalty if such operations are necessitated by weather or unplanned events. As an example, a flight could be scheduled to depart on a weekday at 7:30 p.m. but would actually depart at 8:15 p.m. due to a hold for inclement, un-forecast weather or traffic that caused a passenger to be late. Regarding the number of flights per week, a major sales or emergency activity during which potential clients are brought or taken from Southport might be more productive if the maximum number of flights per week is exceeded by a flight or two. If the helipad sponsor exceeds Measures 3 or 4, a brief report to the city explaining events or conditions that necessitated the operations could be required. Suggested Mitigation Measure Revisions: We respectfully suggest adding the following mitigation measure “The sponsor of this helipad shall consider measures relating to stated times and maximum operations per week to be applicable to normal/planned flights but should have flexibility to operate beyond the measures without penalty if such operations are necessitated by weather or unplanned events.” With respect to Measure 4, we suggest changing the wording to “The helipad shall be restricted to twelve (12) operations per week with each operation consisting of both a landing and a take-off. Thank you for reconsideration. Sincerely, David Ketchum Airsafe