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J. No application for amendment of the application or Conditions of Approval shall <br />be submitted or accepted for processing by the City unless (i) there is full <br />compliance with all terms of the application and Conditions of Approval; or (ii) <br />the Zoning Enforcement Official and/or Community Development Director can <br />waive compliance with the terms of the application if they are minor in content. <br />K. Construction of the project shall remain in substantial compliance with the <br />approved exhibits and plans. Modifications to the approved Conditions of <br />Approval and Plan Exhibits shall require resubmittal of a revised Administrative <br />Review application in accord with Zoning Code Section 5-2110, "Development <br />Plans." The Zoning Enforcement Official shall review the application to <br />determine if the proposed substitutions or alterations necessitate referral to the <br />Board of Zoning Adjustment for review. The Zoning Enforcement Official may <br />approve changes to approved plans or Conditions of Approval without a public <br />hearing upon determining that the changes in conditions are minor and are <br />consistent with the intent of the original approval. <br />III. ENGINEERING AND TRANSPORTATION DEPARTMENT REQUIREMENTS <br />A. The application materials include two alternative designs for compliance with the <br />Municipal Regional Stormwater Permit and the related C.3 Technical Guidance <br />associated with the Alameda Countywide Clean Water Program. The two <br />alternative designs are labeled "Plan A" (bioretention basin) and "Plan B" <br />(pervious pavers). Both alternatives are acceptable to the City, but both require <br />encroachment into an existing easement to Pacific Gas & Electric Company <br />recorded on 09/25/1959 in Book 9162, Page 181, of Official Records. In his letter <br />to Brian Veitch of VVH Consulting Engineers dated 6/05/2019, John Spigott of <br />PG&E states, "The proposed bioretention area located at 13992 Catalina Street <br />in San Leandro does not appear to interfere with any existing PG&E facilities or <br />easement rights. However, please note that this proposed area must be installed <br />outside of the fall line of the overhead conductors and cannot diminish access to <br />PG&E facilities. Further, if at any time PG&E requires use of this particular <br />area for maintenance activities PG&E shall not be held responsible for repair <br />and/or restoration to this bioretention area. " If Plan A is selected for <br />implementation, then the applicant shall be bound by the requirements stated <br />above from PG&E. <br />B. Runoff from trash enclosures, recycling areas, or similar facilities shall not <br />discharge to the storm drain system. Trash enclosure areas shall be roofed and <br />designed to avoid run-on to the trash enclosure area. <br />C. The proposed development shall comply with City ordinances, policies and <br />regulations. All improvements shall be in accordance with the City's Design <br />Standards, Specifications and Standard Plans unless otherwise specifically <br />approved by the City Engineer. <br />D. Pursuant to Government Code Section 66020, including Section 66020 (d) (1), the <br />City HEREBY NOTIFIES the applicant for this Project that the 90 -day approval <br />Agreement to Conditions June 27, 2019 <br />PLN 17-0072 Page 5 of 11 <br />