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Y ,. <br /> S JCOG, Itc. <br /> 555 East Weber Avenue • Stockton,CA 95202 • (209)235-0600 • FAX(209)235-0438 <br /> San Joaquin County Multi-Species Habitat Conservation&Open Space Plan (SJMSCP) <br /> SJMSCP RESPONSE TO LOCAL JURISDICTION(RTLJ) <br /> ADVISORY AGENCY NOTICE TO SJCOG,Inc. <br /> To: Rick Griffin,San Joaquin County Community Development Department <br /> From: Kimberly Juarez,SJCOG, Inc. <br /> Date: January 28,2011 <br /> Local Jurisdiction Project Title: N/A <br /> Assessor Parcel Number(s): 059-170-14 Local Jurisdiction Project Number: PA- 1000270 <br /> Total Acres to be converted from Open Space Use: Undetermined <br /> Habitat Types to be Disturbed: Agricultural Habitat Land <br /> Species Impact Findings: Findings to be determined by SJMSCP biologist. <br /> Dear Mr. Griffin: <br /> SJCOG, Inc. has reviewed application PA- 1000270. This project includes a Use Permit Application for a neighborhood <br /> religious assembly facility with a maxim attendance of 187 people. The project includes the conversion of an existing <br /> 1,688-square-foot building to be used as an assembly hall building, the construction of a new 4,300-square-foot religious <br /> facility, and an existing 2,408-square-foot residence to be used by the caretaker. Services will be held on Sunday from <br /> 9:00 a.m. to 11:00 a.m. The property is located on the west side of N. Pearson Road, 500 feet south of Morse Road, <br /> north of Stockton; 11335 N. Pearson Road, Lodi. <br /> San Joaquin County is a signatory to San Joaquin County Multi-Species Habitat Conservation and Open Space Plan <br /> (SJMSCP). Participation in the SJMSCP satisfies requirements of both the state and federal endangered species acts, <br /> and ensures that the impacts are mitigated below a level of significance in compliance with the California Environmental <br /> Quality Act (CEQA). The LOCAL JURISDICTION retains responsibility for ensuring that the appropriate Incidental Take <br /> Minimization Measure are properly implemented and monitored and that appropriate fees are paid in compliance with the <br /> SJMSCP. Although participation in the SJMSCP is voluntary, Local Jurisdiction/Lead Agencies should be aware that if <br /> project applicants choose against participating in the SJMSCP, they will be required to provide alternative mitigation in an <br /> amount and kind equal to that provided in the SJMSCP. <br /> This project is subject to the SJMSCP and is located within the unmapped land use area. Per requirements of the <br /> SJMSCP, unmapped projects are subject to case-by-case review. This can be a 90 day process and it is recommended <br /> that the project applicant contact SJMSCP staff <br /> as early as possible. It is also recommended that the project applicant <br /> obtain an information package. http://www.sicog.org <br /> After this project is approved by the Habitat Technical Advisory Committee and the SJCOG Inc. Board, the following <br /> process must occur to participate in the SJMSCP: <br /> ■ Schedule a SJMSCP Biologist to perform a pre-construction survey prior to any ground disturbance <br /> • Sign and Return Incidental Take Minimization Measures to SJMSCP staff(given to project applicant after <br /> pre-construction survey is completed) <br /> ■ Pay appropriate fee based on SJMSCP findings. Fees shall be paid in the amount in effect at the time <br /> of issuance of Building Permit <br /> ■ Receive your Certificate of Payment and release the required permit <br /> It should be noted that if this project has any potential impacts to waters of the United States[pursuant to Section 404 Clean Water Act], <br /> it would require the project to seek voluntary coverage through the unmapped process under the SJMSCP which could take up to 90 <br /> days. It may be prudent to obtain a preliminary wetlands map from a qualified consultant. If waters of the United States are confirmed <br /> on the project site, the Corps and the Regional Water Quality Control Board(RWQCB) would have regulatory authority over those <br /> mapped areas[pursuant to Section 404 and 401 of the Clean Water Act respectively]and permits would be required from each of these <br /> resource agencies prior to grading the project site. <br />