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HomeMy WebLinkAboutC_OnHoldLetter_221222_v3 December 20, 2022 Beyler Consulting, LLC Attn: Camille Washington 5920 – 100th St SW, Suite 25 Lakewood, WA 98499 SUBJECT: "On Hold" Notice Castro Short Plat / LUA22-000053, SHPL-A Dear Ms. Washington, The Planning Division of the City of Renton accepted a resubmittal for the above master application for review on December 9, 2022. During our review, staff has determined that additional information is necessary in order to proceed further. The following information will need to be submitted so that we may continue the review of the above subject application:  Please see attachments with previous comments from Engineering dated September 22, 2022. Item 2 and Item 3 were not addressed in the most recently submitted materials At this time, your project has been placed “on hold” pending receipt of the requested information. The maximum time for resubmittal shall be within 90 days of this notice; no further extensions will be granted. A resubmittal will be accepted only if substantive changes have been made to address Engineering’s comments. Please contact me at (425) 430-7286 if you have any questions and/or would like to set up a meeting to discuss Engineering’s comments. Sincerely, Andrew Van Gordon Associate Planner Attachments: C_Civil On Hold Comments_20220915_v2 cc: Castro Investments, LLC / Owner(s) Beyler Consulting, LLC / Applicant Yuming Zhao, John Hung, Craig M. Brookman / Party(ies) of Record DEPARTMENT OF COMMUNITY AND ECONOMIC DEVELOPMENT M E M O R A N D U M DATE: September 22, 2022 TO: Andrew Van Gordon, Senior Planner FROM: Nathan Janders, Civil Engineer SUBJECT: Castro Short Plat 12727 SE Petrovitsky Road LUA22-000053 I have reviewed the application for the Castro Short Plat located at 12727 SE Petrovitsky Road and have the following comments: The following comments represent additional information or corrections that are required to be made: 1. A sewer availability from Soos Creek Water and Sewer District should be provided, only water was included with the revision. 2. In the TIR a flow control facility exemption is claimed per section 1.2.3.1.B of the RSWDM due to an increase of less than 0.15 CFS. However, the project is not vested to the 2017 RSWDM and must comply with the 2022 RSWDM which was adopted in June of 2022. In the 2022 RSWDM flow control facility modeling credits cannot be used to decrease the size of a facility with exception of full dispersion and full infiltration. The TIR indicates that full infiltration is used for the rooftops, however, the geotechnical report indicates that full infiltration is not supported but limited infiltration is. The TIR, specifically the flow control facility, must be updated per the 2022 RSWDM a. Note, if a detention facility is determined to be required then a Type 4 downstream drainage problem shall be evaluated in the downstream analysis. The following comments represent additional information or corrections that should be made when considering site layout: 3. The applicant should verify with geotechnical engineer the stability of fill soils when saturated (see section C.2.7 Permeable Pavement Infeasibility Criteria List no. 7).