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HomeMy WebLinkAboutC_Applicant_Comment_Response_200812.pdfCivil Engineers Structural Engineers Landscape Architects Community Planners Land Surveyors Neighbors TACOMA 2215 North 30th Street Suite 300 Tacoma, WA 98403-3350 253.383.2422 TEL www.ahbl.com February 11, 2020 Matt Herrera, AICP, Senior Planner City of Renton 1055 South Grady Way Renton, WA 98057 Project: Sunset Highlands Mixed Use, AHBL No. 2190210.10 Subject: Response to Muckleshoot Indian Tribe Comments dated January 22, 2020 LUA19-000290 Dear Mr. Herrera: We are responding to your letter dated January 28, 2020, that contained comments from the Muckleshoot Indian Tribe dated January 22, 2020, regarding the above referenced project. The comments are included below (verbatim) for your reference. Our responses are shown in bold after each comment. 1. Stream Typing. Per the Critical Areas Report, the section of Honey Creek that flows along the southern portion of the site is classified as a Type N (non-fish bearing). The report lacked sufficient data to demonstrate this classification. In fact, based on the information provided (i.e. bankfull width of 2 feet), at least one of the three physical criteria for presumed fish habitat was met. The report lacks any information about any natural barriers downstream and the streambed slope and the upstream basin area. WDFW's current barrier map and fish distribution layer is showing fish use not far from the site, below SR 900 and Union which is farther upstream than the City map in the Critical Areas Report. See https://geodataservices.wdfw.wa.gov/hp/fishpassage/index.html The stream needs to be resurveyed to see if it meets the physical criteria for presumed fish habitat under WAC 222-16-031 or demonstration of a natural physical barrier based on WDFW's barrier assessment criteria. Response: This will be addressed by the Wetland Ecologist. 2. Current stream buffer conditions. The photos in the CAR suggests that the stream buffer on site has been totally cleared. Is this correct? If so, isn't the project site in violation of the City's Critical Areas Ordinance? It also seems that a buffer reduction and critical areas exemption should not be allowed until any CAO violations are addressed including mitigation for any temporal losses to riparian functions. For any buffer reduction, the remaining stream buffer needs to be planted with native trees and shrubs conducive to the soils on site. The landscape plan suggests that non- native street trees will be planted in the buffer. Response: We are not aware of any clearing activity or violations that have occurred. G+A Response: Please see attached technical memorandum. Matt Herrera, AICP, Senior Planner February 11, 2020 2190210.10 Page 2 of 2 3. Onsite culverts. The site plans shows two existing 48" culverts crossing the stream. What is the purpose of these culverts? Can they be removed as part of this project? If so, they could serve as partial mitigation for the permanent reduction in the stream buffer and its functions. If not, then additional mitigation will likely be needed. Response: The existing 48-inch culverts are not within the subject property. We have no rights to remove or alter them. We are not proposing any work inside the existing stream. No mitigation should be required for areas outside of our control. 4. Tree removal. How close to the stream are the two large Douglas fir trees on the western border that will be removed (see the TIR)? Response: One Douglas fir tree is 67 feet from the stream, and the other is 150 feet from the stream. 5. Technical Information Report. With respect to the Technical Information Report, we offer these comments: On page 5, there is an error. The site is within a salmon conservation plan as it is in WRIA 8 which is a chapter of the larger Puget Sound Salmon Recovery Plan. Response: We will update the report to note that our site is within the salmon conservation plan area of WRIA 8. The site's stormwater will ultimately drain to known salmon-bearing waters. The project proposed to use enhanced water quality treatment methods for stormwater which is good, but the project should also use oil control methods to minimize stormwater pollutants known to adversely affect salmon. Response: This is not a high-use site. Per the manual, oil controls are not required/warranted. Enhanced treatment is adequate to protect the downstream water quality. If you have any questions, please call me at (253) 383-2422. Sincerely, Scott T. Kaul, PE, LEED AP Project Manager STK/lsk c: Ed Sewell, Sewall Wetland Consulting, Inc. Dale Fonk, Owner Glenna Mahar, Graves + Associates Q:\2019\2190210\WORDPROC\Letters\20200211 Ltr (Resp-Renton) 2190210.10.docx