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Land
Use and Developments
Newhall Ranch RMDP and SCP
In
coordination with Friends of the Santa Clara River and SCOPE, VCK is
advocating to protect the water quality and ecological integrity of
the Santa Clara River and Ventura County’s coastal waters from the
proposed Newhall Development ( Newhall Resource Management and
Development Plan (“RMDP”) and Spineflower Conservation Plan
(“SCP”).
The
Newhall Ranch Project proposes to develop 22,610 homes, seven schools,
a golf course and a water reclamation plant that would move roughly
77,000 people into 12,000 acres along the Santa Clara River and it
tributaries. During construction, the Project proposes to discharge
19.9 million cubic yards (four football fields over half a mile deep)
of dredge and fill material from excavation into 83.2 acres Santa
Clara River. After construction, the ongoing long term ecological and
water quality impact to the Santa Clara River Watershed and Ventura
County’s coastal waters will be devastating if the development is
approved with the mitigation measures under any of alternatives set
forth in the DEIS/DEIR, except the no project alternative
Not
only does the DEIS/DEIR not identify significant water quality impacts
in the stretches of the Santa Clara River and Ventura’s Coastal
waters downstream of the proposed development, but it erroneously
dismisses as irrelevant the effects of the proposed project’s
pollutant loading that will lead to bioaccumulation of toxic
pollutants and eutrophication in the Santa Clara River Estuary and
Ventura’s coastal waters. Additionally, the DEIS/DEIR does not
evaluate the chronic toxicity impacts nor full acute toxicity impacts
that individual pollutants, the aggregate of pollutants, or
pharmaceuticals discharged from the proposed development into the
Santa Clara River and Ventura’s coastal waters will have on water
quality and aquatic life. Amongst other concerns, the forecast of the
proposed project’s discharge of pollutants is unrealistically low in
comparison to nationwide statistical data of the concentrations of
pollutants commonly found in urban runoff, and in light the inadequate
stormwater best management practices set forth in the DEIS/DEIR. VCK
is especially concerned that if the DEIS/DEIR is adopted, that the
development’s urban runoff will impair Ventura County’s costal
waters with pathogens that will threaten the health of beachgoers,
surfers, and the general public that comes in contact with Santa Clara
River water.
The
DEIS/DEIR is also insufficient because it must demand, for the
project’s impacts to water quality and aquatic resources to be
adequately mitigated, that the development utilizes the low impact
development (“LID”) standards required by the 2009 Ventura County
MS4 Permit mandating for most sites that the new development meets a
5% Effective Impervious Area requirement.
Click Here
for VCK's Newhall Press Release
Click
Here
for
VCK’s, Friends of the Santa Clara River’s, and SCOPE’s Joint
DEIS/DEIR Comment Letter
Click
here for the EPA’s Comment
Letter
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