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May 6, 2021 <br />Page 24 <br /> <br /> <br />5005-003acp <br /> <br /> printed on recycled paper <br />would “likely be ineffective at reducing actual construction noise.”102 Additionally, <br />Wilson Ihrig determined that the Checklist lacks sufficient discussion of noise <br />impacts and the corresponding necessary mitigation measures to assure the <br />community that all rooftop and mechanical equipment will be designed to meet <br />applicable land use standards.103 Further, Wilson Ihrig determined that the noise <br />impacts from refrigeration noise and other noise sources from the Project are <br />missing from the analysis, and are therefore unmitigated. An Infill EIR is required <br />to adequately analyze and mitigate noise impacts. <br /> <br />IV. CONCLUSION <br /> <br />The City must prepare and circulate a legally adequate Infill EIR for the <br />Project which fully discloses and mitigates the Project’s potentially significant <br />impacts that were not addressed in the Checklist, 2035 General Plan EIR and TOD <br />EIR before the Project can be approved. <br /> <br />Thank you for your consideration of these comments. <br /> <br />Sincerely, <br /> Kelilah D. Federman <br /> Associate Attorney <br /> <br />KDF:acp <br /> <br />Attachments <br /> <br />102 Wilson Ihrig Comments, p. 1. <br />103 Wilson Ihrig Comments, p. 4. <br />114