Loading...
HomeMy WebLinkAboutECF_Categorical_Exclusion_Willowcrest_v2 U.S. Department of Housing and Urban Development 451 Seventh Street, SW Washington, DC 20410 www.hud.gov espanol.hud.gov Page 1 of 4 Environmental Review for Activity/Project that is Exempt or Categorically Excluded Not Subject to Section 58.5 Pursuant to 24 CFR Part 58.34(a) and 58.35(b) Project Information Project Name: Homestead Willow Crest Townhomes Responsible Entity: City of Renton Grant Recipient (if different than Responsible Entity): Community Frameworks State/Local Identifier: Preparer: Lisa Grueter, AICP, Principal, BERK Consulting, Inc. Certifying Officer Name and Title: Mayor Denis Law and designee, Greg Zimmerman, chair of the Environmental Review Committee Responsible Entity Contact: Matt Herrera, AICP Senior Planner Community & Economic Development Department City of Renton 1055 South Grady Way Renton, WA 98057 MHerrera@Rentonwa.gov 425.430.6593 Consultant (if applicable): BERK Consulting, Inc. Project Location: 1132 Edmonds Ave NE Description of the Proposed Project [24 CFR 58.32; 40 CFR 1508.25]: Twelve Townhomes called Homestead Willow Crest are proposed on a vacant parcel at 1132 Edmonds Ave NE (site 18 within the Sunset Master Site Plan). DocuSign Envelope ID: 7500DBC7-FEBC-471E-AF7C-51BF76F7EC72 Project Name Project Locality and State HEROS Number Page 2 of 4 Level of Environmental Review Determination: Activity/Project is Exempt per 24 CFR 58.34(a): ________________________________ Activity/Project is Categorically Excluded Not Subject To §58.5 per 24 CFR 58.35(b) (7) Funding Information Grant Number HUD Program Funding Amount # SH16-021 Self-Help Homeownership Opportunity Program (SHOP) $180,000 Estimated Total HUD Funded Amount: $180,000 This project anticipates the use of funds or assistance from another Federal agency in addition to HUD in the form of (if applicable): Estimated Total Project Cost (HUD and non-HUD funds) [24 CFR 58.32(d)]: $5.1 million Compliance with 24 CFR §50.4 and §58.6 Laws and Authorities Record below the compliance or conformance determinations for each statute, executive order, or regulation. Provide credible, traceable, and supportive source documentation for each authority. Where applicable, complete the necessary reviews or consultations and obtain or note applicable permits of approvals. Clearly note citations, dates/names/titles of contacts, and page references. Attach additional documentation as appropriate. Compliance Factors: Statutes, Executive Orders, and Regulations listed at 24 CFR 50.4 and 58.6 Are formal compliance steps or mitigation required? Compliance determinations STATUTES, EXECUTIVE ORDERS, AND REGULATIONS LISTED AT 24 CFR §58.6 Airport Runway Clear Zones and Accident Potential Zones 24 CFR Part 51 Subpart D Yes No The site is not within 2,500 feet of a civil airport or 15,000 feet of a military airport. DocuSign Envelope ID: 7500DBC7-FEBC-471E-AF7C-51BF76F7EC72 Project Name Project Locality and State HEROS Number Page 3 of 4 Compliance Factors: Statutes, Executive Orders, and Regulations listed at 24 CFR 50.4 and 58.6 Are formal compliance steps or mitigation required? Compliance determinations Coastal Barrier Resources Coastal Barrier Resources Act, as amended by the Coastal Barrier Improvement Act of 1990 [16 USC 3501] Yes No Washington is not a state within units of the Coastal Barrier Resources System (CBRS). Flood Insurance Flood Disaster Protection Act of 1973 and National Flood Insurance Reform Act of 1994 [42 USC 4001-4128 and 42 USC 5154a] Yes No The site is not within a mapped floodplain, nor are there abutting waterbodies. Mitigation Measures and Conditions [40 CFR 1505.2(c)] Summarize below all mitigation measures adopted by the Responsible Entity to reduce, avoid, or eliminate adverse environmental impacts and to avoid non-compliance or non-conformance with the above-listed authorities and factors. These measures/conditions must be incorporated into project contracts, development agreements, and other relevant documents. The staff responsible for implementing and monitoring mitigation measures should be clearly identified in the mitigation plan. See Attachment: Categorically Excluded Not Subject to (CENST) Section 58.5 Documentation, Planned Action Concurrence Review Preparer Signature: ________________________________________Date:__2/12/2019______ Name/Title/Organization: ___________ Lisa Grueter, AICP, Principal, BERK Consulting, Inc. DocuSign Envelope ID: 7500DBC7-FEBC-471E-AF7C-51BF76F7EC72 Project Name Project Locality and State HEROS Number Page 4 of 4 City of Renton Environmental Review Committee (ERC) Date: Signature: Chair Signature: Signature: Signature: This original, signed document and related supporting material must be retained on file by the Responsible Entity in an Environmental Review Record (ERR) for the activity/project (ref: 24 CFR Part 58.38) and in accordance with recordkeeping requirements for the HUD program(s). April 29, 2019 DocuSign Envelope ID: 7500DBC7-FEBC-471E-AF7C-51BF76F7EC72