HomeMy WebLinkAboutCC Reso No 2006-184RESOLUTION NO. 2006-184
A RESOLUTION OF THE CITY COUNCIL OF THE
CITY OF LAKE ELSINORE, CALIFORNIA, ADOPTING
FINDINGS OF CONSISTENCY WITH THE MULTI-
SPECIES HABITAT CONSERVATION PLAN (MSHCP)
FOR THE PROJECT KNOWN AS "CANYON ESTATES
PROFESSIONAL OFFICE BUILDING "
WHEREAS, Architectural Team Three, C/O Lon Bike, has submitted
application for the project know as "Canyon Estates Professional Office Building"
located on the south side of Canyon Estates Drive and west of Summerhill Drive;
and
WHEREAS, the application comprises the "project" as defined by
California Public Resources Code Section 21065, which is defined as an activity
which may cause either a direct physical change in the environment, or a
reasonably foreseeable indirect physical change in the environment and which
includes the issuance to a person of a lease, pernut, license, certificate, or other
entitlement for use by one or more public agencies; and
WHEREAS, the project has been found exempt from further environmental
review in accordance with California Public Resources Code, Article II, Section
15162 ; and
WHEREAS, public notice of the project has been given, and the City
Council has considered evidence presented by the Community Development
Department and other interested parties at a public hearing held with respect to this
item on November 14, 2006.
NOW, THEREFORE, THE CITY COUNCIL OF THE CITY OF
LAKE ELSINORE DOES HEREBY RESOLVE, DETERMINE AND
ORDER AS FOLLOWS:
SECTION 1. The City Council has considered the proposed application
and its consistency with the MSHCP prior to making a decision to adopt Findings
of Consistency with the MSHCP.
SECTION 2. That in accordance with State Planning and Zoning laws, the
I,ake Elsinore Municipal Code (LEMC) and the MSHCP, the City Council makes
the following findings for MSHCP consistency:
CITY COiJNCIL RESOLUTION NO. 2006-184
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MSHCP CONSISTENCY FINDINGS
1. The proposed project is a project under the City's MSHCP Resolution, and
the City must make an MSHCP Consistency Finding before approval.
Pursuant to the City's MSHCP Resolution, the project is required to be
reviewed for MSHCP consistency, including consistency with other "Plan
Wide Requirements. " The proposed project site lies within Criteria Cell
#4647. However, based upon a verbal "common law vested rights
agreement" between the City and the previous landowner, the site was
exempted from the MSHCP. This agreement was the result of the previous
landowner's extensive costs associated with infrastructure and road
construction in that area prior to the City's involvement in the MSHCP.
Accordingly, the current proposed project would also be subject to this same
agreement. City Planning Staff conducted a site reconnaissance survey to
ensure that no issues could be raised regarding consistency with the
MSCHP's other `Plan Wide Requirements ". The only requirements
potentially applicable to the proposed project were the Protection of Species
Associated with Riparian/Riverine Areas and Vernal Pool Guidelines
(MSHCP, ~ 6.1.2) and payment of the MSHCP Local Development
Mitigation Fee (MSHCP Ordinance, ~ 4). The proposed project site has
already been graded as approved under the previous agr^eement and no
habitat is present on site, including riparian/riverine areas or vernal pools.
2. The proposed project is subject to the City's LEAP and the County's Joint
Project Review processes.
As stated above, the Ciry exempted this site from the MSHCP and therefore
it was not processed through a Joint Project Review.
3. The proposed project is consistent with the Riparian/Riverine Areas and
Verna1 Pools Guidelines.
The proposed project was exempted from the MSHCP. Further, a site
reconnaissance survey was conducted, and no riparian, riverine, vernal
pool/fairy shrimp habitat or other aquatic resources were identified on the
proposed project site. As such, the Riparian/Riverine Areas and Tjernal
Pool Guidelines as set forth in Section 6.1.2 of the MSHCP are not
applicable to the proposed project.
CTTY COIINCIL RESOLUTION NO. 2006-184
PAGE 3 OF 5
4. The proposed project is consistent with the Protection of Narrow Endemic
Plant Species Guidelines.
The proposed project was exempted from the MSHCP. Further, the site
does not fall within any Narrow Endemic Plant Species Survey Areas.
Neither a habitat assessment nor further focused surveys are required for
the proposed project. Therefore, Protection of Narrow Endemic Plant
Species Guidelines as set forth in Section 6.1.3 of the MSHCP are not
applicable to the proposed project.
5. The proposed project is consistent with the Additional Survey Needs and
Procedures.
The proposed project was exempted from the MSHCP. Further, the MSHCP
only requires additional surveys for certain species if the project is located
in Criteria Area Species Survey Areas, Amphibian Species Survey Areas,
Burrowing Owl Survey Areas, and Mammal Species Survey Areas of the
MSHCP. The project site is located outside of any Critical Area Species
Survey Areas. Therefore, it can be concluded that the provisions as set forth
in Section 6.3.2 of the MSHCP are not applicable to the proposed project.
6. The proposed project is consistent with the Urban/Wildlands Interface
Guidelines.
The proposed project was exempted from the MSHCP. Further, the project
site is not within or adjacent to any MSHCP criteria or conservation areas.
Therefore, the Urban/Wildlands Interface Guidelines as set forth in Section
6.1.4 in the MSHCP are not applicable to the proposed project. No
additional mitigation measures or conditions of approval are required.
7. The proposed project is consistent with the Vegetation Mapping
requirements.
The proposed project was exempted from the MSHCP. Further, the entire
proposed project site has been rough-graded. There are no resources
located on the project site requiring mapping as set forth in Section 6.3.1 of
the MSHCP.
8. The proposed project is consistent with the Fuels Management Guidelines.
The proposed project was ezempted from the MSHCP. Further, the project
site is not within or adjacent to any MSHCP criteraa or conservation areas.
Therefore, the Fuels Management Guidelines as set forth in Section 6.4 of
CITY COUNCIL RESOLUTION NO. 2006-184
PAGE 4 OF 5
the MSHCP are not applicable to the proposed project. No additional
mitigation measures or conditions or approval are required.
9. The proposed project will be conditioned to pay the City's MSHCP Local
Development Mitigation Fee.
As a condition of approval, the project will be required to pay the City's
MSHCP Local Development Mitigation Fee at the time of issuance of
building permits.
lO.The proposed project is consistent with the MSHCP.
As stated in No. 1 above, the proposed project was exempted from the
MSHCP based upon a"common law vested rights agreement" between the
City and the previous Zandowner. That exemption continues to apply to the
current proposed project.
SECTION 3. This Resolution shall take effect from and after the date of its
passage and adoption.
PASSED, APPROVED AND ADOPTED this 14th day of November,
2006, by the following vote:
AYES: COUNCILMEMBERS: HICKMAN, KELLEY, SCHIFFNER,
MAGEE
NOES: COUNCILMEMBERS: NONE
ABSENT: COUNCILMEMBERS: BUCKLEY
ABSTAIN: COUNCILMEMBERS: NONE
~ ~
Robert E. Mage~Ma
City of Lake Elsinare
CITY COIJNCIL RESOLUTION NO. 2006-184
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ATT , T:
Fredrick , City Clerk
City of Lake Elsinore
APPROVED AS TO FORM:
~
~ ~' .~;v~v~
Barbara Zeid eibold, City Attorney
City of Lake Elsinore