ECOS submitted the following letter with concerns about outdoor lighting on the Sacramento riverfront and its effects on local salmon populations, such as the endangered Sacramento River winter-run Chinook salmon, which are particularly important among California’s salmon runs because they exhibit a life-history strategy found nowhere else on the West Coast.
The City of Elk Grove has once again applied to amend their Sphere of Influence (SOI) and ECOS is again at the forefront, working to halt urban sprawl.
What is the problem?
A “Sphere of Influence” (SOI) is defined as a planning boundary outside of an agency’s legal boundary (such as the city limit line) that designates the agency’s probable future boundary and service area.
Planning boundaries were put in place to direct growth and to prevent urban sprawl. Expanding these boundaries, especially when there is still plenty of room to build within them, increases the human impact on the environment and decreases the efficiency with which a city or county uses its resources, such as water, electricity, transportation dollars, etc.
Where is the problem?
The City of Elk Grove wants to expand to the south of their urban growth boundaries, into green fields and wildlife habitats that have never before been built upon.
Look at all this green!
Didn’t this already happen?
The City of Elk Grove has submitted previous applications to expand their sphere of influence in the past. In 2008, the City of Elk Grove (City) applied to Sacramento Local Agency Formation Commission (Sacramento LAFCo) for a Sphere of Influence Amendment (LAFC#04-08) to the south and east of its current boundary consisting of approximately 10,536 acres, which was subsequently closed and a new application (LAFC#09-10) submitted by the City for 7,869 acres. The City withdrew its application in 2013. Both of these larger areas included the proposed SOIA Area addressed by the current proposed project. This project is separate and distinct from the previous proposals.
More Background
The affected territory includes a 1,156-acre area that abuts the southern portion of the City of Elk Grove’s existing jurisdictional boundary. This is called the proposed Sphere of Influence Amendment Area (SOIA Area) or “the project site.” This proposed SOI amendment requires approval by the Sacramento Local Agency Formation Commission (LAFCo), which has sole discretion on the establishment and amendment of SOI boundaries.
LAFCo is charged with oversight of changes in governmental organization and has the authority to consider:
Annexations to, or detachments from cities or districts;
The formation or dissolution of districts;
The incorporation or disincorporation of cities;
The consolidation or reorganization of cities or districts;
The establishment of subsidiary districts, and
The development of, and amendments to, Spheres of Influence.
LAFCo has the authority to approve, modify and approve, or disapprove applications, and to impose mitigation measures and conditions of approval. Per statute, LAFCo shall not impose any conditions that would directly regulate land use density or intensity, property development, or subdivision requirements.
Read the Kammerer/Hwy 99 Sphere of Influence Amendment (LAFC #07-15) Draft Environment Impact Report (DEIR) by clicking here.
ECOS Comment Letter on the Municipal Services Review
Here is an excerpt from the ECOS comment letter on the current Elk Grove SOI expansion application Municipal Services Review, which includes the shortage of water in the area:
“…While we have many concerns about the Elk Grove expansion proposal, with regard to the MSR our primary concern is future water supply. Water is an essential service for prospective urban development and an important factor in the LAFCo approval process. The availability of water to meet the competing needs of habitat, agriculture and urban uses is an ongoing and increasingly acute issue in the Sacramento region and elsewhere in the state. This is one of the threshold issues facing LAFCo, and we feel that the prospects of future water supply to this area have not been adequately analyzed or illustrated in the MSR…”
Read our full comment letter by clicking here or on the image of the letter below.
TO: Sacramento Transportation Authority Governing Board
RE: Request for public input during the process of redrafting Measure B
Measure A, adopted in 1988, was developed through a process that included input from a wide range of community representatives, and its renewal in 2004 was partially based on guidance from stakeholders. In contrast, the Sacramento Transportation Authority prepared Measure B with minimal public involvement — and only at the end of the development process — which the STA Governing Board largely discounted in its final deliberations.
We believe a robust public input process should be used in the development of any future transportation measure for Sacramento County, as the County is currently using for its Communitywide Climate Action Plan. The County has been holding workshops in several neighborhoods, pursuant to encouraging “public participation and input … to ensure the Communitywide CAP reflects the needs of Sacramento County” (from the County CAP website). We request that the STA Governing Board adopt a plan for public participation before initiating the development of a revised funding package.
We welcome the opportunity to work with you to develop funding options for transportation policies in Sacramento County that align with regional needs regarding climate change, housing, equity, and air quality. Strong public input is critical for the development of a measure that we can wholeheartedly support.
Sincerely,
Ralph Propper and John Deeter, Co-Chairs
ECOS Transportation, Air Quality & Climate Change Committee
Co-signers:
Nick Lapis, Vice-Chair
Sierra Club, Sacramento Group
Coco Cocozzella, STAR Action Team
Sacramento Transit Advocates and Riders
Stephen Green, President
Save the American River Association
Rick Bettis and Sue Teranishi
Co-Chairs, Policy Committee
Breathe California of Sacramento-Emigrant Trails
Laurie Litman, Board President
350 Sacramento
George Parrot, President
Sacramento Electric Vehicle Association
RE: Sac 50 Phase 2 High Occupancy Vehicle (HOV) Lanes* Project Draft Initial Study [with Proposed Mitigated Negative Declaration]/Environmental Assessment
In general, ECOS is greatly concerned that this Initial Study does not adequately analyze the potential impacts of the project, and strongly recommends that a full EIR be conducted.
What’s an HOV lane?
From Caltrans: The central concept for HOV lanes is to move more people rather than more cars. Some HOV lanes carry almost half of the people carried on the entire freeway.
ECOS supports the 19J project particularly for its sustainability and “affordable by design” features. We find the urban design features, building scale and location to have an approach consistent with the intent of the City General Plan, despite its modest height increase beyond the Plan’s approved limits. We recommend approval of the project, but strongly recommend that three conditions be applied to its approval.
A deed restriction shall be recorded whereby the rental cost of the 300 to 445 square foot units shall not exceed 30% of Sacramento’s median income.
A deed restriction shall also be recorded stating that no units shall be sold for 15 years from the date of initial occupancy.
Approval of the project shall require that the project owner/operators submit an annual report to the Planning Department verifying compliance with conditions 1 & 2 above.
We believe that in order to maintain the integrity of the project, these conditions must be applied.
We were pleased that in subsequent months the Wilton Rancheria tribe has selected Elk Grove as the primary choice for location of their project. On August 4th, the members of the leadership of ECOS met and discussed the project with the Wilton Rancheria tribal chairman Raymond Hitchcock. The discussion included an update on the project as well as the concerns that were substantially avoided by the selection of Alternate F site for the project.
We would like to reiterate our support for the selection of Alternate F as the site for the Wilton Rancheria project and would like to continue to work with the tribe regarding future environmental concerns and impacts. We are hopeful that the Wilton Rancheria, in recognizing that the casino project will still have a role in stimulating expansive Elk Grove urban growth, will join with us in efforts to protect and restore important wildlife habitat in the ancestral lands of the Plains Miwok along the lower Cosumnes River and the Stone Lakes complex.