HomeMy WebLinkAboutBMC Renton Project; Land Use No. LUA17-000445, SA-A, ECF, MODFrom: Linda McCabe <linda@mccabeappraisal.com>
Sent: Monday, November 27, 2017 8:16 AM
To: Jill Ding
Cc: andrewt.levesque@gmail.com; 'Linda McCabe'
Subject: BMC Renton Project; Land Use No. LUA17-000445, SA-A, ECF, MOD
Subject: Fwd: BMC Renton Project; Land Use No. LUA17-000445, SA-A, ECF, MOD
Ms. Ding,
Thank you for providing me with the requested materials concerning the City of Renton's
proposed use of the Optional DNS process, limiting opportunity for comment on the
environmental impacts of the subject proposal to this single comment period. The November 9,
2017 Notice of Application for this project states that a DNS is likely to be issued, followed by a
14-day appeal period.
Please accept this communication as our formal notice of intent to file an appeal to the DNS
within the time period indicated. While we have no objection to reasonable use or proposed
improvement of the project site, our review of relevant project documents has disclosed
substantive errors of fact on the part of the Applicant, and of both fact and administrative process
on the part of the City of Renton. These errors, which will be set forth below, have the clear
potential to severely impact the environment, including reasonable use of the adjoining Harper
parcel abutting the subject proposal site to the south, and need to be fully corrected prior to any
project approvals, including issuance of the proposed DNS.
The November 1, 2017 Preliminary Technical Information Report for the BMC Renton project
includes differing statements concerning existing runoff from the site.
In Sect. 1.2:
"Most of the site sheet flows to the existing drainage structures or directly to the existing wetland
along the east side of the site.This existing wetland [elsewhere denoted "Wetland A"] overflows
into a drainage ditch south of the site. This ditch conveys water west to the publicly owned and
operated drainage system in the East Valley Road."
This finding is apparently clarified in Sect. 3.4, Task 4.1.1:
"Runoff generated on the existing site sheet flows to existing onsite catch basins before
discharging east to the existing wetland east of the site."
However these roughly compatible findings are contradicted in part in Sect. 2.1.1:
"Stormwater runoff generated on the existing project site discharge both east to the existing
wetland and west to a publicly owned and operated drainage system in East Valley Road. The
existing wetland overflows into the existing drainage ditch South of the project site, which
discharges to the drainage system in East Valley Road."
Similarly these findings seem to be wholly contradicted by field inspection findings in Sect.
3.3.9:
"The project site does not discharge to an offsite conveyance system or to adjacent private
properties."
The Applicant needs to clarify if no runoff leaves the site, if portions of the site presently drain
directly from the site to West Valley Road, or if all existing runoff is directed first to the easterly
wetland, thence through the privately owned drainage ditch on the Harper Property to the south,
thence west to Renton's stormwater system.
Similarly, Sect. 3.1 states:
"There are no upstream tributary areas contributing to the onsite basin area."
However, Sect. 5.1, Wetlands, states:
"Hydrology for Wetland A is provided by a seasonally high groundwater table, direct
precipitation, and stormwater runoff from adjacent high intensity land uses with excess
impervious surfaces." Appendix F, Wetlands, to the SVC report discussed more fully below also
notes in Sects.D2.1 and D.5.1 that the wetland unit receives stormwater discharge.
Certainly stormwater entering a wetland mapped on a portion of the subject project site prior to
discharge from that wetland to the Harper site is coming from "tributary areas contributing to
the onsite basin area" of the BMC Renton site. If not, all runoff entering the wetland would
presumably be coming from the BMC Renton site. Clearly this is not the case.
Please note that no mapped demarcation of existing onsite or offsite drainage basin source areas
or discharge locations is provided to properly identify where existing flows originate, where they
enter the site, where they enter the wetland, or where they are presently conveyed offsite to help
resolve these related questions. Sect. D.4.3 of the SVC Habitat Report directly states that no
definition of the area tributary to the wetland has been mapped or measured. No finding
regarding potential project impacts to the Harper site or on the adequacy of the proposed site
measures to address such impacts can be made without this information regarding existing
drainage conditions.
We have similar questions regarding proposed onsite drainage improvement measures.
Sect. 2.1.1 proposes:
"...discharging all runoff generated onsite to the publicly owned drainage system in East Valley
Road."
Sect. 4.1.2 proposes that:
"The project site will be split into two separate drainage basins. The north basin
will...[be]...discharging into the municipal stormwater system...The south basin...runoff will then
be conveyed to the City of Renton Stormwater system at a separate connection point from the
northern basin."
This is clearly a diversion of discharge from the described existing discharge location, first to the
east, then south offsite.
Sect. 7.2 of the accompanying SVC Habitat Report purports that "the project provides
comprehensive stormwater treatment and flow control to minimize impacts on [wetland]
hydrology."
However four things are evident in comparing this proposed project discharge configuration with
the already conflicting statements regarding existing drainage conditions at and adjacent to the
site, as discussed above:
(1) The proposed drainage system will involve a wholesale diversion of existing site runoff away
from the existing Wetland A, where it is described as currently discharging.
(2) The diversion of this stormwater from Wetland A would constitute a direct modification of
and environmental impact to wetland hydrology, as "stormwater runoff from adjacent high
intensity land uses with excess impervious surfaces" is noted as one existing source of this
hydrology in Sect. 5.1.
(3) The fact of this impact to Wetland A's hydrology is not described, nor is the likely nature or
magnitude of the impact addressed.
(4) Because this impact is not addressed, no impact avoidance, minimization, or mitigation
measures are proposed that could justify issuance of the proposed DNS.
We are also asking Renton to address several additional issues of concern relate to the findings
of the October 2017 Wetland and Fish and Wildlife Habitat Assessment and Restoration Plan
prepared by Soundview Consultants (SVC), which appears to have been prepared in "winter
2016."
From the Executive Summary:
"The site investigations identified one wetland (Wetland A) located on the eastern border of the
subject property" [the BMC Renton site], which "was classified as a Category III wetland...
requiring a standard 75- foot buffer..."
SVC also "identified ...one non-regulated drainage ditch (Drainage Z) located on the southern
property boundary." This privately owned drainage ditch is located wholly on the Harper
property, as is the "offsite construction stormwater pond approximately 30 feet south of the
subject [BMC Renton] property." Both these offsite features on the Harper site are shown on
both the Existing Conditions and Proposed Project site maps in Appendix C of the SVC report
with the specific note that they are NOT DELINEATED.
Moreover SVC specifically documents that Drainage Z is an intentionally created feature and is
not subject to regulation per Renton Municipal Code (RMC) 4-3-050.G.7.b.
The Table 5 provided by SVC for Drainage Z determines that any potential wetland rating for
Drainage Z is "N/A" (Not Applicable), that it is not regulated under RMC 3-3-050, that it is "not
regulated" under RCW90.48, and that it is "not likely" to be regulated under the Clean Water
Act. The DNR stream type, the Local (Renton) rating, the buffer width, and the Building
Setback are all shown as "N/A", since it is an intentionally created feature. Figures 1 through 10
in Appendix D (Aerials) show an exhaustive sequence of site views plainly showing the
intentional construction of Drainage Z in conjunction with early construction of Highway 167,
along with roughly simultaneous fill placement on both the BMC and Harper sites.
Sect. 5.2, Drainages notes:
"...purposeful creation is documented through [this] historic aerial photograph research...", before
concluding:
"Therefore Drainage Z should be considered an intentionally created feature."
Sect.6.1.2 also is clear:
"Drainage Z is a linear drainage ditch intentionally created in an upland area."
SVC then states at several locations in their Report:
"However, after review, the City of Renton is classifying Drainage Z as the same regulated
wetland as Wetland A."
We have four concerns with this unsupported finding:
First, no wetlands mapping, classification, rating, or categorization is provided as a basis for this
determination. We are concerned that this constitutes a significant administrative and procedural
error on Renton's part, which results in an adverse condemnation of property interests held by
M's. Harper, since the feature in question is located wholly on her parcel. We do not believe that
issuance of a DNS by Renton is appropriate under these circumstances, and intend to appeal if
one is issued.
Secondly, the administrative error on Renton's part is compounded by the factual error in issuing
their unsupported finding. Not only does SVC continue to disagree with the "classification" of
this privately owned, deliberately constructed ditch as "wetlands" by Renton, such a requirement
is not only wholly unsupported by, but actually directly contradicted by their findings, all of
which appear to be rigorously consistent and compliant with all relevant codes and regulations,
and procedures, including Renton's own. We do not believe that issuance of a DNS by Renton
is appropriate under these circumstances, and intend to appeal if one is issued.
Thirdly, though we can hardly fault the BMC Renton consultants or project proponents for this
state of affairs, absolutely no wetland mapping, boundary determination, or delineation of
Drainage Z has been provided with the project proposal in support of this "classification" by
Renton. In fact project documents note this feature is NOT DELINEATED. Moreover, since no
wetland boundary determination or classification can apparently be derived from application of
the existing, recognized, lawfully required and regulated methodologies and procedures applied
to Drainage Z by SVC in their study, it would appear that no wetland delineation of this feature
is even possible. We do not believe that issuance of a DNS by Renton is appropriate under these
circumstances, and intend to appeal if one is issued.
Fourthly, since no wetland boundary has been or apparently may be determined for this feature,
it should be obvious that no buffer area of any dimension can be established with respect thereto.
This point needs some added emphasis on our part, as SVC repeatedly notes: "The Applicant
will accept the recommended buffer for...Drainage Z by the City of Renton to enable the project
to move forward." This may be a trade-off suitable for the BMC Renton site proponents, as they
are apparently in possession of sufficient acreage to still make use of their site even with such
reductions in useable site development area, but such is not likely to be the case if Renton's
entirely unsupported wetlands mapping of Ditch Z on the Harper site were to lead to similar use
restrictions in the future. The Harper site is conspicuously smaller than adjacent sites sharing the
same land use zoning designation, and will be unreasonably constrained as a consequence of this
regulatory action by Renton. At the very least, impacts to the Harper site's use potential and
economic valuation resulting from this mapping determination by Renton are clearly within the
nexus of the proposed action and should be fully addressed by the project. We do not believe that
issuance of a DNS by Renton is appropriate under these circumstances, and intend to appeal if
one is issued.
Thank you for the opportunity to submit these comments. We have also mailed a hard copy of
these comments for your convenience.
Regards,
Andrew Levesque and Linda McCabe on behalf of Mae Harper
253-653-0300 Cell
AndrewT.Levesque@gmail.com
Sent from my iPad
Begin forwarded message:
From: Clark Close <CClose@Rentonwa.gov>
Date: November 22, 2017 at 9:10:08 AM PST
To: "'andrewt.levesque@gmail.com'" <andrewt.levesque@gmail.com>
Subject: RE: BMC Renton Project; Land Use No. LUA17-000445, SA-A,
ECF, MOD
Andy,
No problem. I've uploaded the items on OneDrive just in case:
https://1drv.ms/f/s!AiqJKI_D_CSDgQd0sUOwb5LaP2Au
Thanks,
Clark H. Close
Senior Planner
City of Renton
425-430-7289
-----Original Message-----
From: andrewt.levesque@gmail.com [mailto:andrewt.levesque@gmail.com]
Sent: Wednesday, November 22, 2017 9:05 AM
To: Jill Ding <JDing@Rentonwa.gov>
Cc: Clark Close <CClose@Rentonwa.gov>
Subject: Re: BMC Renton Project; Land Use No. LUA17-000445, SA-A, ECF,
MOD
Yes Jill, I should have included the following mailing address as well:
Andrew T. Levesque
26526 201st Ct. SE
Covington WA 98042
Thank you for your prompt response.
Sent from my iPad
On Nov 22, 2017, at 6:22 AM, Jill Ding <JDing@Rentonwa.gov> wrote:
Andrew,
I have received your email and will add you and am happy to add
you and your wife as parties of record, please provide me with a
mailing address. Attached are the reports you had requested, please
note that the stormwater construction permit you have requested is
a permit that the applicant will need to get before they start
construction it is not a report that I have a copy of at this time.
Unfortunately I am not able to extend the public comment period
at this time. The status of the project is that it is currently "on hold"
per some corrections that need to be made to bring the proposal in
compliance with the City's design standards. I have also attached a
copy of the hold letter as this correspondence was sent to parties of
record. Some of these files may be too large and not fit in one
email, if that is the case I will send separate emails.
Thanks,
Jill Ding
Senior Planner
City of Renton
Community and Economic Development
6th floor
1055 S Grady Way
Renton, WA 98057
425-430-6598
jding@rentonwa.gov
-----Original Message-----
From: andrewt.levesque@gmail.com
[mailto:andrewt.levesque@gmail.com]
Sent: Tuesday, November 21, 2017 2:22 PM
To: Jill Ding <JDing@Rentonwa.gov>
Cc: Linda McCabe <Linda@McCabeAppraisal.com>
Subject: BMC Renton Project; Land Use No. LUA17-000445, SA-
A, ECF, MOD
Ms. Ding,
This email is to respectfully request that my wife, Linda McCabe,
and I be made parties of record regarding the subject land use
permitting application. Linda has a Power of Attorney and is
representing the interests of her Mother, Mae Harper, who has
recently inherited title to the property immediately adjoining the
BMC Renton project location, to the south.
I called and left you a voice message this morning, but note your
phone message states you are only in on Mondays and Thursdays.
Since this coming Thursday is a holiday, I may not be able speak
to you in time to properly request access to relevant project
documentation over the phone. Therefore I am conveying this
request via e-mail.
Specifically, we would like to obtain and review copies of the
following:
*DOE Stormwater Construction Permit
*Drainage Report
*Geotechnical Report
*Wetland Assessment
Each of these project elements of the overall permitting process
has adversely affected previous attempts to develop Ms. Harper's
adjoining parcel in the recent past. We are interested in
determining how studies for the BMC Renton project proposal
may bear upon her future efforts to do so.
With the Thanksgiving Holiday and weekend intervening before
comments are due by 5:00 PM on Monday November 27, 2017, we
are also therefore respectfully requesting an extension of the
limited comment period for one additional week, in the event we
find project elements of concern.
Thank you for your consideration of this request.
Regards,
Andrew T. Levesque
253-653-0300
andrewt.levesque@gmail.com
Sent from my iPad
<36_Drainage_Report_v1.pdf>
<32_RS_Geotechnical_Report_170124_v1.pdf>
<C_hold ltr.pdf>