Jackson Township Specific Plan Project: ECOS Comments

On June 28, 2021, ECOS sent the following comments to CEQA[at]saccounty[dot]net (Cc: Todd Smith smithtodd[at]saccounty[dot]net).

ECOS and other environmental groups have urged developers to start building the project nearest the urban core (the City of Sacramento) and build outward, following the Jackson Highway. This would reduce the project’s GHG emissions, air pollution, and negative impacts on local wildlife. However, the Sacramento County Board of Supervisors has instead elected to let the market decide which part of the project should be built first, and therefore the project is being built contrary to environmental concerns.

Below is an excerpt from our letter.

As stated on p. 20-1, vehicle miles traveled (VMT) has replaced congestion as the metric for determining transportation impacts under CEQA. Nonetheless, in the EIR level of service (relieving traffic congestion related to the development) is said to be “mitigated” by building additional roads and lanes. This will result in more VMT.
The EIR states that “delay-based traffic operations is provided herein for informational purposes. It is assumed for the purpose of this analysis that delay-based effects and the associated measures proposed to reduce these effects to acceptable levels would be included as conditions of approval and/or in the development agreement for the Project.” On pp. 20-41/42, the EIR states that SB 743 requires amendment of CEQA Guidelines to provide an alternative to LOS for evaluating transportation impacts. Particularly within areas served by transit, those alternative criteria must “promote the reduction of greenhouse gas emissions, the development of multimodal transportation networks, and a diversity of land uses.”

Measurements of transportation impacts may include “vehicle miles traveled, vehicle miles traveled per capita, automobile trip generation rates, or automobile trips generated.” The EIR continues, “Once the CEQA Guidelines are amended to include those alternative criteria, auto delay will no longer be considered a significant impact under CEQA.” Nonetheless, in the EIR there are plans to construct additional lanes of concrete highway. That is a “business as usual” approach. We can no longer plan for additional roadways that will result in increased VMT and the concomitant increase of GHG and other emissions.

On p. 20-56 the EIR states, “The Project would widen and/or complete many roadways that cross or border the Plan Area and would include new roadways to serve the proposed land uses.” More appropriate mitigation should be funding for Regional Transit to cause even more frequent public transit and additional, Earth-friendly shuttles to get people that live and work in the project area to and from public transit lines, than those suggested in the EIR. On page 20-77 the EIR states, “While most effects could theoretically be reduced to acceptable levels by adding more traffic lanes, grade separations, new roadways, and other similar measures, such LOS improvement measures mitigation may not be consistent with adopted policies and could result in secondary impacts to the environment and other users.”

On p. 21-8 it is stated, “As described in Chapter 20, “Traffic and Circulation,” of this Recirculated Draft EIR, analysis of vehicle miles traveled (VMT) is provided only for Alternative 2. Based on modeling, VMT generated under Alternative 2 would exceed the VMT significance thresholds for residential lands and office land uses (emphasis added). Implementation of Mitigation Measures TR-1, TR-2, and TR-3 would pay for bus and/or shuttle operations between the Project and the Manlove Light Rail Station, and would identify and fund additional Trip Reduction Services. However, it cannot be guaranteed that the implementation of Mitigation Measures TR-1, TR-2, and TR-3 would reduce VMT impacts to less-than-significant levels because the specific elements of the VMT-reducing mitigation measures that would be implemented are unknown at this time, and uncertainty exists related to the VMT reductions that would be achieved.” To mitigate for this, the developer should commit funding to Regional Transit for increased public transportation.

On p. 21-17 the EIR states, “Project-generated GHG emissions would exceed applicable Sacramento County thresholds of significance for transportation and result in a cumulatively considerable contribution to climate change. These levels of emissions also indicate that the Project would not be consistent with Sacramento County’s CAP.” Therefore, adequate mitigation is required.

On p. 21-29 the EIR states, “Public transit is not currently provided to, or near the Plan Area. A conceptual transit system to serve the Jackson Corridor Projects (i.e., the Jackson Highway Master Plans, including the Jackson Township Project) has been developed by Sacramento County, SacRT, DKS Associates, and the applicants of the Jackson Corridor Projects as part of a joint transit planning process. This developer and those of adjacent projects should mitigate this by providing additional funds for public transit.”

The EIR provides “Sacramento County has established draft GHG thresholds for 2030. The Project’s build-out year is 2035, for which the 2030 GHG thresholds were extrapolated in alignment with State GHG reduction targets. Development of the Project or Alternative 2 would result in the production of GHG emissions during construction activities and throughout the operational period of the Project, attributed to vehicle use, energy use, waste generation, water treatment and distribution, and other area sources.” (P. 21-51). It goes on to say, that even with implementation of mitigation suggested, the Project would reduce GHG emissions generated onsite and the remaining GHG emissions exceeding applicable thresholds would be offset through the purchase of carbon credits. Better mitigation than carbon credits is direct funding to RT for mass transit and additional Earth-friendly shuttles as suggested above.

We agree with the statement on p. 21-64 that the Jackson Corridor Projects include substantial amounts of higher density and mixed uses to help support transit use; however, transit service within walking distances of those uses is required to achieve a significant transit ridership. The “LOS Improvement Measures” beginning on p. 21-143 again call for more concrete, and instead should provide funding that will enable public transit to be utilized instead. In the words of teenager Greta Thornburg, “act like our house is on fire.” We cannot develop more roadway and arterials instead of funding additional mass transit, and project mitigation should reflect that.

We agree that implementation of Mitigation Measures TR-1, TR-2, and TR-3 would reduce Project-generated VMT impacts (p. 21-214). These measures should pay for bus and/or shuttle operations between the Project and the Manlove Light Rail Station, as well as identify and fund additional Trip Reduction Services (TRS). Such additional trip reduction services should include direct funding to RT for public transit to adequately serve the Project, because the Project “would have a considerable contribution to a significant and unavoidable cumulative VMT impact” (p. 21-214).

/s/
Ralph Propper,
President, Environmental Council of Sacramento

Click here to view the letter as submitted.


Image by Peter Dargatz from Pixabay

Site of Sleep Train Arena to become new home to California Northstate University teaching hospital, by Matthew Nuttle, Jun 16, 2021, ABC10

The old home of the Sacramento Kings, formerly the Sleep Train Arena, will soon be the site of the California Northstate University (CNU) medical school and teaching hospital.

The announcement of the development was made during a press conference featuring Kings team owner Vivek Ranadivé and Sacramento city leaders. The Kings organization donated the arena and 35 acres of land on which it sits in North Natomas for development of phase one of the project that includes the medical school and a state-of-the-art teaching hospital.

https://www.abc10.com/article/news/local/sacramento/sleep-train-arena-california-northstate-hospital/103-ed198231-79dd-41e4-ae2d-09d94867c20e

Click here to read the article in full.


Photo by RODNAE Productions from Pexels

ECOS and Partners Letter re Airport South Industrial Project, Jun 28, 2021

On June 28, 2021, the Environmental Council of Sacramento, Habitat 2020, Sierra Club Sacramento Group, Friends of the Swainson’s Hawk and Former Sacramento City Mayor Heather Fargo submitted a joint letter on the Airport South Industrial Project.

Below is an excerpt from our letter.

We urge you to remove Item 9 from the Consent Calendar and vote to deny the staff’s recommendation. The Resolution before you conflicts with and interferes with the success of the 2003 Natomas Basin Habitat Conservation Plan (“NBHCP”) the City’s efforts to reach carbon zero status, and General Plan policies. The City’s approval of the proposed annexation and development would constitute a breach of the City’s obligation under the 2003 Natomas Basin Habitat Conservation Plan to not annex or develop outside of the NBHCP permit area, and could lead to revocation of the City’s Incidental Take Permit under the Natomas Basin Habitat Conservation Plan.

Click here to read the letter in full.

Council of Infill Builders’ David Mogavero’s Infill Presentation

On July 12, 2021, at a Special Environmental Council of Sacramento (ECOS) meeting (Joint Session: Land Use & Transportation, Air Quality and Climate Change Committees) architect David Mogavero spoke to ECOS.

How can we encourage infill development and discourage green-field development?

David Mogavero is a Board Member of the Council of Infill Builders, and a past president of ECOS.

David Mogavero addressed these questions:

  • How do we calculate infill capacity?
    • How many market-rate and affordable dwelling units will we need in our region?
    • How much infill housing development capacity do we have?
    • Would still we need more greenfield development?
    • What density criteria are used to determine needed infill development capacity?
  • What are potential problems with larger high-density infill developments?
    • Nearby residents often resist higher density, affordable housing near transit hubs.
  • Small, high-density infill development problems:
    • Do we need accessory dwelling units (ADUs) and multiplex housing?
    • How can we make small projects easier to finance and build?

Missed it?

Click here for David Mogavero’s slideshow.

More Info

Learn more about ECOS committees here: https://www.ecosacramento.net/about-us/committees.

To learn more about the Council of Infill Developers, visit their website at http://www.councilofinfillbuilders.org/.

Climate Rally at Sac City Hall on June 25

ECOS encourages your participation in this rally (with safe distancing).

From the Sacramento Climate Coalition:

The heat this year has already been another brutal reminder that our planet is heating up. The current heatwave, like last summer’s, is worse because of climate change, and is just a foretaste of what the weather will bring going forward. The climate emergency requires an immediate response from our government officials!

Join us Friday, June 25 at 10:30 am to 11:30 am on the patio in front of City Hall, 915 I Street, Sacramento, CA 95814 to demand our elected officials and city staffers use 2030 as their goal for eliminating GHG emissions, as they committed to in 2019 when they adopted the Climate Emergency Declaration. Unfortunately when staff make presentations, and when the Mayor made a recent commitment to start the process of planning for electrification of existing buildings: they use 2045 as the goal. As scientists tell us this is simply not fast enough to avoid the worst of what climate change has in store.

We will have signs and banners and maintain social distancing. But of course you can bring your own signs if you wish. You can learn more about this campaign to get the City to join SMUD and the County for a Carbon Free 2030 at our website’s Take Action page.


Photo by Markus Spiske from Pexels

Caltrans Active Transportation Survey (July 16 deadline)

Do you live in any of the following counties: Butte, Colusa, El Dorado, Glenn, Nevada, Placer, Sacramento, Sierra, Sutter, Yolo, Yuba?

If so, please fill out this survey for Caltrans by July 16, 2021.

Your survey response will help Caltrans plan for biking and walking near you. Please click through the following screens to identify concerns that you believe need to be addressed to improve walking and biking on and along State Routes near you.


Photo by PNW Production from Pexels