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STATE OF CALIFORNIA—CALIFORNIA NATURAL RESOURCES AGENCY EDMUND G.BROWN JR., GOVERNOR <br /> CENTRAL VALLEY FLOOD PROTECTION BOARD <br /> 3310 EI Camino Ave.,Ste. 170 ��'O^�, <br /> SACRAMENTO,CA 95821 a <br /> (916)5740609 FAX:(916)5740682 <br /> May 9, 2017 <br /> Ms. Stephanie Stowers <br /> San Joaquin County <br /> Community Development Department <br /> 1810 East Hazelton Avenue <br /> Stockton, California 95205 <br /> Subject: CEQA Comments: PA- 1700077 (SA) TMGL Partners LP, Initial Study Negative <br /> Declaration <br /> Location: San Joaquin County <br /> Dear Ms. Stowers, <br /> Central Valley Flood Protection Board (Board) staff has reviewed the subject document and <br /> provides the following comments: <br /> The proposed project is adjacent to the Stockton Diverting Canal, a regulated stream under <br /> Board jurisdiction, and may require a Board permit prior to construction. <br /> The Board's jurisdiction covers the entire Central Valley including all tributaries and <br /> distributaries of the Sacramento and San Joaquin Rivers, and the Tulare and Buena Vista <br /> basins south of the San Joaquin River. <br /> Under authorities granted by California Water Code and Public Resources Code statutes, the <br /> Board enforces its Title 23, California Code of Regulations (Title 23) for the construction, <br /> maintenance, and protection of adopted plans of flood control, including the federal-State <br /> facilities of the State Plan of Flood Control, regulated streams, and designated floodways. <br /> Pursuant to Title 23, Section 6 a Board permit is required prior to working within the Board's <br /> jurisdiction for the placement, construction, reconstruction, removal, or abandonment of any <br /> landscaping, culvert, bridge, conduit, fence, projection, fill, embankment, building, structure, <br /> obstruction, encroachment, excavation, the planting, or removal of vegetation, and any repair <br /> or maintenance that involves cutting into the levee. <br /> Permits may also be required to bring existing works that predate permitting into compliance <br /> with Title 23, or where it is necessary to establish the conditions normally imposed by <br /> permitting. The circumstances include those where responsibility for the works has not been <br /> clearly established or ownership and use have been revised. <br /> Other federal (including U.S. Army Corps of Engineers Section 10 and 404 regulatory permits), <br /> State and local agency permits may be required and are the applicant's responsibility to obtain. <br />