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Environmental Factors Potentially Affected <br />Environmental Consistency Checklist Pursuant to CEQA Guidelines Section 15183 15 <br />Environmental Factors Potentially Affected <br />This infill project would not result in any impacts deemed “Significant” as indicated by the checklist <br />on the following pages. <br />□Aesthetics □Agriculture and <br />Forestry Resources <br />□Air Quality <br />□Biological Resources □Cultural Resources □Energy <br />□Geology and Soils □Greenhouse Gas <br />Emissions <br />□Hazards and Hazardous <br />Materials <br />□Hydrology and Water <br />Quality <br />□Land Use and Planning □ Mineral Resources <br />□Noise □Population and <br />Housing <br />□Public Services <br />□Recreation □Transportation □Tribal Cultural Resources <br />□Utilities and Service <br />Systems <br />□Wildfire □Mandatory Findings <br />of Significance <br />Determination <br />On the basis of this initial evaluation: <br />□I find that the Proposed Project qualifies as a Residential Project pursuant to a Specific Plan <br />I find that the Proposed Project qualifies as a Residential Project pursuant to a Specific Plan <br />and is EXEMPT from CEQA in accordance with CEQA Guidelines Section 15182. <br />□I find that pursuant with CEQA Guidelines Section 15183, the Proposed Project is a Project <br />consistent with a Community Plan or Zoning, that there are no project-specific significant <br />effects which are peculiar to the project or its site, and NO ADDITIONAL ENVIRONMENTAL <br />REVIEW IS REQUIRED. <br />■I find that the Proposed Project qualifies as an Infill Project that would result in new <br />specific effects. However, these effects would be substantially mitigated under uniformly <br />applicable development policies. NO FURTHER REVIEW required. <br />□I find that the Proposed Project qualifies as an Infill Project but would result in new specific <br />effects that would not be substantially mitigated under uniformly applicable development <br />policies. A STREAMLINED MITIGATED NEGATIVE DECLARATION is recommended.