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.bra http://2imbra/2imbra/h/printmessage?id=7584 <br /> Zimbra sstowers@sjgov.org <br /> RE: Silray Solar Initial Study (PA-1300027/PA-1300066) <br /> From :Todd@Wildlife Gardner Tue, Mar 11, 2014 02:51 PM <br /> <Todd.Gardner@wildlife.ca.gov> <br /> Subject : RE: Silray Solar Initial Study (PA-1300027/PA- <br /> 1300066) <br /> To : Stephanie Stowers <sstowers@sjgov.org> <br /> Hello Ms. Stowers—the California Department of Fish and Wildlife (CDFW) has reviewed your <br /> draft Initial Study/Negative Declaration (IS/ND)and offers the following comments: <br /> - Page 11 of the subject IS/ND states that "the site does not provide suitable habitat <br /> for regionally occurring special-status wildlife species, and no special status species <br /> have been documented within or in close proximity of the site". The CDFW disagrees <br /> with this assertion. Our staff, represented by Todd Gardner, visited the site and <br /> believes the site to contain suitable foraging habitat for the Swainson's hawk (SWHA), <br /> a species listed as "Threatened by the State of California". The site contains foraging <br /> and nesting habitat for other raptor species including the red-shouldered hawk, white <br /> tailed kite, and the burrowing owl (BUOW), a species of special concern. All of these <br /> raptor species are protected by California Fish and Game Code (FGC; section 3503 & <br /> 3503.5). We recommend that the IS/ND be revised to reflect this assertion by CDFW. <br /> Currently, we believe that mitigation is necessary to reduce the impact to SWHA <br /> foraging habitat, and we believe that a minimum of an equal amount of land <br /> preserved and managed in perpetuity to lands being impacted should be set aside to <br /> accomplish this task. Lands preserved for mitigation should be preserved with a <br /> Conservation Easement acceptable to San Joaquin County and CDFW, and a <br /> sufficiently funded endowment account should be established to provide funds to <br /> manage and maintain the mitigation lands. In addition, a mitigation lands <br /> management plan should be established that is also acceptable to San Joaquin <br /> County and CDFW. We recommend that the IS/ND be revised to reflect this opinion <br /> by CDFW. <br /> - Page 12 of the IS/N D requires surveys to be conducted for nesting Swainson's <br /> hawks, and if found a qualified biologist should determine if restrictions on <br /> construction are needed. We believe that this requirement if too vague and <br /> subjective, and does not present enforceable mitigation measures. Please be advised <br /> that "take" as defined by FGC is not authorized for this project for SWHA. We are <br /> concerned not only for SWHA, but also a number of raptors that we believe have the <br /> potential to occur on site, including but not limited to the Red-shouldered hawk, <br /> white-tailed kite, BUOW, and SWHA). We recommend that the IS/CJD be revised to <br /> include the following language for surveying for, and for providing take avoidance and <br /> impact minimization measures: <br /> 1 of 3 03/14/2014 9:36 AM <br />