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4 <br /> <br /> <br />Yet, the application does not claim any gap in other bands used for conventional commercial <br />service. <br />III. San Leandro emergency communications are not provided by FirstNet. <br />The applicant contends that the tower will enhance telecommunication services for emergency <br />responders. However, FirstNet does not actually provide direct service to San Leandro emergency <br />service providers. That is entirely the responsibility of the East Bay Regional Communications <br />System Authority (EBRCSA).4 AT&T is trying to use this site to sell private communication <br />services to first responders as part of their FirstNet service plan and to add antennas for its <br />conventional AT&T customers. There is no demonstrated public safety need for this site. <br />IV. The proposed tower is inconsistent with General Plan Policies and Goals. <br />The most important problem with this application is that the tower is incompatible with the <br />General Plan. The Planning Commission resolution considered only three goals and policies of the <br /> <br />4 https://ebrcsa.org/about/participating-agencies.page. <br />Att B - Page 24 of 46