BBCAG-245

[See page 5-139 for the original comment] While the City may choose to utilize an alternative review procedure for deconstruction of existing buildings within the Baylands, such additional review is not required under CEQA since Draft EIR Mitigation Measure 4.D-1a already requires that the historic roundhouse be stabilized and restored. Each of the development scenarios also provides for incorporating the Roundhouse building into the Baylands’ open space network. Mitigation Measure 4.D-1b also provides for protecting the historic setting of the Roundhouse by addressing the design of adjacent buildings. To clarify implementation of Mitigation Measure 4.G-2c, Mitigation Measure 4.G-2c is revised to read as follows:

Mitigation Measure 4.G-2c (Master Deconstruction and Demolition Plan): City review and approval of a specific plan per the requirements of the Brisbane General Plan shall be completed prior to submittal of any application for a demolition permit within the Project Site. Prior to issuance of a demolition permit for any parcel within the Project Site, a Master Deconstruction and Demolition Plan shall be submitted by the project applicant to the City Community Development Director and Building Official. The plan shall be reviewed and approved by the Community Development Director and Building Official prior to issuance of the requested demolition permit to ensure that the proposed demolition is consistent with applicable provisions of the Brisbane General Plan and the specific plan adopted pursuant to the General Plan. This The demolition plan shall include documentation of hazardous materials determinations (surveys) and demolition or deconstruction recommendations in accordance with local and state requirements. If the surveys conducted by licensed professionals prior to issuance of a demolition permit per the requirements above hazardous building materials15, demolition or deconstruction shall proceed in accordance with applicable BAAQMD, OSHA, and CalOSHA requirements, which may include air permits or agency notifications, worker awareness training, exposure monitoring, medical examinations and a written respiratory protection program.

BBCAG-246

[See page 5-139 for the original comment] See Master Response 13 for discussion of the remediation review and approval process. Pursuant to their statutory authority, the RWQCB and DTSC will review and approve the technologies to be employed in site remediation and Title 27 landfill closure. Whether redundant systems will be required will be determined by the RWQCB and DTSC based on susceptibility of remediation systems to failure in and earthquake and other disaster situations, the level of human health risk, and the resulting need for such redundant systems. See also Master Response 5 for

15

Typical hazardous building materials include lead-based paint; asbestos-containing materials, such as insulation, paint, or fiberboards; PCBs in lighting ballasts or wiring; and mercury in thermostat switches. BAAQMD oversees the public health and environmental aspects of removal and disposal of asbestos-containing materials and other hazardous building materials. CalOSHA oversees worker protection and contractor licensing with respect to hazardous building materials.

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