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07/13/2016 P&Z Packet
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07/13/2016 P&Z Packet
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07/13/2016
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Ms. Katie Larsen <br />June 28, 2016 <br />Page 2 <br />are primarily adjacent to Clearwater creek. City environmental staff has confirmed that <br />no eagle nests are present within the development area. <br />3. AUAR Mitigation Item 11.10. The AUAR requires a rare plant survey to be completed <br />in wetlands and other designated areas. There are wetlands present within the <br />development area. City environmental staff has confirmed that a rare plant survey is not <br />needed in this area. <br />4. AUAR Mitigation Item 11.12. The AUAR requires that the CDF include consideration <br />of, among other things, protection of ecologically significant natural resources from <br />adjacent land uses by implementing buffering. Reference section Item 11.1. <br />WATER RESOURCES: WETLANDS <br />1. AUAR Mitigation Section 12.1. Wetlands exist within the development area and <br />confirmation of boundary approval by the Wetland Conservation Act (WCA) Local <br />Government Unit (LGU) should be obtained. <br />2. AUAR Mitigation Sections 12.2 — 12.6. The project proposes 0.36 acres of wetland fill. <br />An application has been prepared by Kjolhaug Environmental Services. The application <br />will need to be reviewed and approved by the WCA LGU and US Army Corps of <br />Engineers (ACOE). The application should include sequencing measures and a <br />replacement plan and will also need to conform to the wetland alteration requirements set <br />forth by the Rice Creek Watershed District (RCWD). <br />3. AUAR Mitigation Section 12.7. There are no DNR Public Waters on the property, but <br />Clearwater Creek is designated as a Public Ditch. The applicant should apply to RCWD <br />for impacts to this ditch. <br />WATER USE <br />AUAR Mitigation Section 13.5. The AUAR requires that abandoned private wells be <br />sealed in accordance with Minnesota Department of Health (MDH) regulation. There are <br />no known wells on the property, but if any undocumented wells are encountered they <br />should be sealed in compliance with MDH regulations. <br />EROSION AND SEDIMENTATION <br />The plans submitted June 17, 2016 do not include erosion or sediment control plans. The grading <br />plans and Stormwater Pollution Prevention Plan (SWPPP) were reviewed for compliance with <br />the AUAR. <br />1. AUAR Mitigation Section 16.1. Project proposers are required to obtain a NPDES/SDS <br />General Stormwater Permit for Construction Activity from the MPCA prior to initiating <br />earthwork. This permit should be obtained and filed with the city prior to construction. <br />2. AUAR Mitigation Section 16.2. Project proposers are required to meet the erosion and <br />sediment control regulations in all applicable regulations, ordinances, and rules of the city <br />and MPCA and RCWD. A SWPPP has been prepared for the project. A sediment and <br />erosion control plan should also be prepared and reviewed by the applicable regulatory <br />agencies for compliance with rules. <br />3. AUAR Mitigation Section 16.3. Project proposers are required to minimize runoff, <br />improve the quality of runoff, and provide erosion control through BMPs and other low <br />\\mspfsv02.lps.local\Studim\Aaive Projects\CLL16007 - Clearwater Creek Business Park in Lino Lakes MN\Fr m Others (Original Data)\20160628 Engineerinj <br />
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