2.
Response
to
Comments
2.9
Individual
Responses
to
Comments
from
Organizations
In
addition,
as
discussed
in
Master Response
1,
approval
of
remedial
action
plans
and
a
landfill
closure
plan
by
the
RWQCB
and
DTSC
require
discretionary
actions
for
which
the
RWQCB
and
DTSC
will
be
required
to
undertake
site-
specific
CEQA
review,
during
which
all
CEQA
requirements,
including
consideration
of
alternatives,
will
be
met.
The
Draft
EIR
found
that
achievement
of
remediation
goals
for
the
Project
site
as
approved
by
the
applicable
regulatory
agency,
in
addition
to
compliance
with
federal,
state,
and
local
regulations
pertaining
to
the
handling
and
disposal
of
hazardous
waste
and
related
mitigation
measures
set
forth
in
the
Hazards
and
Hazardous
Materials
chapter,
would
reduce
all
hazardous
materials-related
impacts
to
a
less
than
significant
level.
See
Master Response
5
for
discussion
of
compliance
with
the
law
as
mitigation
under
CEQA.
As
a
condition
of
approval
for
any
development
within
the
area
of
the
former
landfill,
the
City
will
require
that
landfill
closure
requirements
as
approved
by
the
Regional
Water
Quality
Control
Board
and
San
Mateo
County
Health
System
be
completed
for
the
area
proposed
for
development
prior
to
initiation
of
such
development.
As
a
condition
of
approval
for
any
development
approved
within
OU-1,
the
City
will
require
that
remedial
action
plan
requirements
as
approved
by
the
California
Department
of
Toxic
Substances
Control
be
completed
prior
to
initiation
of
development
within
OU-1.
As
a
condition
of
approval
for
any
development
approved
within
OU-2,
the
City
will
require
that
remedial
action
plan
requirements
as
approved
by
the
Regional
Water
Quality
Control
Board
be
completed
prior
to
initiation
of
development
within
OU-2.
The
RWQCB
and
DTSC,
as
the
regulatory
agencies
responsible
for
site
remediation
and
landfill
closure,
will
determine
appropriate
remediation
objectives
and
remediation
technologies,
as
well
as
appropriate
bonding
requirements
to
ensure
performance
of
site
remediation
and
landfill
closure.
BBCAG-243
[See page
5-139 for the original comment]
The
EIR
language
referenced
in
the
comment
refers
to
temporary
dewatering
during
construction.
The
design
of
infrastructure
and
construction
requirements
will
include
site-specific
considerations
regarding
dewatering
during
construction
and
the
potential
for
ground
subsidence.
[See page
5-139 for the original comment]
See
Master Response
5
for
discussion
regarding
reliance
on
regulatory
agencies
operating
under
their
statutory
authority
to
project
public
health
and
the
environment.
See
also
Chapter
4.0
of
the
Draft
EIR,
Mitigation
Monitoring
and
Reporting
Program
,
for
information
as
to
how
EIR
mitigation
measures
will
be
implemented.
BBCAG-244
Brisbane
Baylands
Final
EIR
2.9.1-81
May
2015
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