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I: <br /> acres in the project), whereas the actual amount of qualifying public land shown by the Master <br /> Plan for the project is zero. The resulting "Public Land Deficit" is, therefore, 5.43 acres. If the <br /> PLEP requirement for this Tentative Map has not been satisfied by a previously approved <br /> tentative map, the applicant would need to correct this deficit by using one or more of the methods <br /> specified in the PLEP ordinance (i.e., by either dedicating Public Land which is not on the shown <br /> on the Tentative Map but which is within the Mountain House Community to the Applicable Public <br /> Agency, sufficient in acreage to meet said Public Land Deficit; transferring fee title ownership of <br /> Private Land which is not needed for public facilities or services but which is within the Mountain <br /> House Community to MHCSD, sufficient in acreage to meet said Public Land Deficit; and/or <br /> submitting land vouchers to the MHCSD, sufficient in acreage to meet said Public Land Deficit). <br /> Environmental Discussion <br /> An Environmental Checklist("Checklist")was prepared for the project. (See Appendix 7.)The } <br /> Checklist concluded that: 1)the project is a subsequent activity that is within the scope of the <br /> Specific Plan III EIR(SPIIIEIR); 2)there are no effects of the project that were not examined in the <br /> SPIIIEIR; 3)and no new mitigation is required for the project. Consequently, as provided by CEQA <br /> Guidelines Section 15168 (c), no new environmental document is required for the proposed <br /> residential development. <br /> I <br /> i <br /> C <br /> f <br /> l <br /> j <br /> iI <br /> t <br /> F <br /> 27 <br /> f <br />