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MEMORANDUM
DATE: January 14, 2022
TO: Clark Close, City of Renton
FROM: Donn Stone, Rolluda Architects
SUBJECT: Land Use Application Pre-Screening Requirements
CC: Tien Pham, Kinyan Lui: KCSWD
PROJECT NUMBER: PRE21-000317
PROJECT NAME: KCSWD INTERIM MAINTENANCE FACILITY AT FARWEST
The purpose of this memo is to confirm with City of Renton (COR) Staff both the required and waived
application materials for the King County Solid Waste Division (KCSWD or SWD) Interim Maintenance
Facility project’s Land Use Submission which currently includes a Site Plan Review, Conditional Use
Permit (CUP), and Environmental Review.
Also, we’d like to review some of the code driven stipulations lying behind the CUP application
requirements themselves, specifically the issues noted in Item 1. If they are unavoidable issues, then
KCSWD would intend to at least try to mitigate them as much as possible to speed review.
The original Submittal Requirements handout provided by COR following the Pre-App meeting has been
edited. The enclosed version is based on positive answers to the questions below:
1. The Municipal Code requires a CUP process for a use that would be normally permitted in this
zone if it was being requested by a private organization rather than an “other government
maintenance facility”. KCSWD is not directly contesting the issue of the CUP requirement under
a strict interpretation of the code, but they are trying to understand the generating force behind
this special condition, in order to address the issue of an “other government maintenance
facility” directly with possible mitigation and so avoid the lengthy CUP process in whole or in
part.
As a reminder, KCSWD has already leased the property and their intention is to use the existing,
conforming Farwest facility for the temporary housing of their vehicle maintenance and stores
operations for a period of less than 5 years. Because of operational issues, the move of the
entire facility now at CHRLF will not be undertaken either completely or immediately. Over the
5-year period, the existing maintenance and stores functions will be distributed between the
Farwest location and CHRLF, since vehicle maintenance and stores to some extent will continue
to be on the “Hill” for convenience.
KCSWD expects that the traffic study will soon indicate that with operational restrictions (all
truck and trailer traffic to and from the Farwest facility will only use the SW 34th St entrance at
the northeast corner of the property). The impact to traffic of KCSWD short term occupancy
should be far less than Farwest’s use of (2) additional entry/exit points: one off of Lind Ave SW
through a neighbor’s shared drive and the other a dedicated rail spur that after onsite switching
still enters the Farwest building in a depressed bay for loading/unloading. Neither of these
previous entry/exit locations will be utilized by KCSWD vehicles, trailers or stores destined for
the facility.
In the 9 months or so since the 5-year lease was signed to secure an appropriate opportunity in
a tight real estate market, the intervening time has been taken up with programming and the
January 14, 2022
Clark Close, City of Renton
page 2 of 3
definition of specially designed temporary fixtures to support the limited level of maintenance
and stores operations expected to be necessary for operations at the Farwest site. All of these
“recoverable improvements”, including the additional (2) modulars that are intended to be
temporarily installed on site, will be removed on KCSWD’s departure. Also, because of the
ongoing project defining process, the length of KCSWD’s actual occupancy has been shortened
and the need to begin their move has grown.
At this time, the particulars of the permitting process COR has outlined are being more
confidently addressed by the facility’s program now and are headed toward resolution and
submittal. Accommodating the temporary nature of KCSWD’s tenancy on and in an existing
compatible site and facility while addressing the exceptional “other governmental agency” issue
that drives the CUP requirement for an otherwise acceptable change of use, could speed the
permitting process without adversely affecting the verifications of the project’s adherence to
Renton’s Land Use and Building Codes.
Is there a process to follow to resolve the “other agency” issue and smooth or shorten the
necessary route to permitting the few temporary improvements that KCSWD has in mind?
2. Because of scheduling commitments and delivery issues KCSWD is interested in moving the (2)
additional modulars (noted above) ahead of the permitting approval and construction period
proposed to begin in spring of ’22. The (2) modulars will be moved on (3) trailers since one of
them is a double-wide. Since the large fabrication facility will be untenanted in the interim,
KCSWD would like the option to store the trailered modulars onsite, either in the yard to the
south of the maintenance building or inside the building itself.
The modulars will remain in their trailered, shipping condition until such time as the permitting
is completed and their foundations are constructed. From previous discussions KCSWD
understands that this is a possibility under possible additional requirements by the building and
fire departments. The maintenance facility interior improvements may get underway during the
modulars occupation if permitting is rapid, but with 2+ acres of space inside (most of which will
eventually be dedicated to vehicle access and maneuvering to and from workstations), there
should not be a problem during the early days of tenant setup.
In addition, KCSWD would like to have the option to occupy for the purpose of storing or staging
some agreed upon amount of materials and non-functioning building system or maintenance
components ahead of granting the building permit. As has been noted in discussions the change
of use from a metal fabrication/storage facility to a vehicle maintenance/storage facility is not in
dispute. KCSWD is asking permission to use the storage component of the facility’s 2+ acre
interior at some percentage, perhaps, of the available square footage.
The existing sprinkler system conforms to the current and projected storage/fabrication/vehicle
maintenance uses and noting the Fire Reviewer’s concern, the maximum height of the modulars
on trailers and/or stores will be kept under the 12’ maximum noted in their September 23,
2021, Memorandum.
3. There are currently (2) other Farwest structures (modulars) established onsite, fully operational,
and only requiring KCSWD furniture to be occupiable. The southernmost has a supervisory
office layout and the other, adjacent to the south wall of the existing large metal fabrication
facility, has a restroom/break environment with (3) offices. KCSWD requests the option to
tenant these modulars immediately, both for their readily available and functional expansion
spaces and for the increased level of onsite security that would provide.
The uses of the spaces would not change from their original Farwest occupation. Parking is
immediately adjacent to the office building and across from the breakroom/office modular.
January 14, 2022
Clark Close, City of Renton
page 3 of 3
Would this be allowed and what would be the necessary procedure to receive a partial
occupancy permit for these uses?
4. This question deals with the Current Use classification in your Memorandum of September 23.
Please clarify or correct the description of the site as a “vacant office and warehouse known as
the Farwest Steel Building”. This description establishes a baseline for the project which does
not reflect the realities of the proposed change of use.
The Farwest facility was more than a “warehouse”, though this was a part of its function. It was
a heavy industry fabrication facility with (2) large scale CNC machines for forming hull plates for
ship building. The warehouse use was for storage of raw and finished materials that required
the operation of (6) large overhead cranes (still in place), as well as, heavy equipment-level
forklifts to move or reposition the materials on the CNC machines, flatbed trailer trucks, and rail
cars which accessed the interior of the facility directly.
If this redescription does not revise the CUP requirement for change of use, it should at least
flag for reviewers that the access, egress and presence of truck trailers and rail cars on the
Farwest site were not an uncommon or unfamiliar experience for the neighbors who shared the
road/rail with Farwest during its operational days which ended just as KCSWD began its lease.
In comparison the truck/trailer activity of KCSWD vehicles, as the traffic study will show, will be
much more controlled (restricted to one access/egress road connection) and of a lower noise
and intrusive activity. This will be noted in the SEPA addendum as a further justification for non-
significance.
5. Finally, with respect to the Project Value as identified in the Land Use Master Application. We
anticipate the scope of our site improvements (composed of cmu foundations for (2) modulars,
fencing/screening at recycling, and the addition of access stairs and ramps) will not exceed
$100K and, therefore, a drainage review will not be required. As a KCSWD contracted study by
HDR shows, the existing onsite system which outlets to the city storm system at Lynn Ave SW is
well maintained and operational.
The scope associated with the interior improvements in the warehouse space and the (2)
additional modulars do not affect stormwater system. Consequently, KCSWD considers these
project costs separate from the determination of the $100K threshold for a drainage review.
Is this consistent with your analysis?
Thanks for your attention to these questions. We are moving forward on the CUP submission’s
particulars and following your response to the above and Traffic’s input we expect to have our
completed application to you by the end of January.
Donn Stone
Attachments: PreApp Summary of September 23, 2021, Waivers Confirmation Checklist, HDR TM of
January 11, 2021