Appendix D.5 - Joint Project Review Coachell Valley Conservation CommissionAppendix D.5
Joint Project Review
Coachella Valley
Conservation Commission,
2021
Travertine SPA
Draft EIR
SCH# 201811023
Technical Appendices
October 2023
COACHELLA VALLEY CONSERVATION COMMISSION
Cathedral City ° Coachella ° Desert Hot Springs ° Indian Wells ° Indio ° La Quinta ° Palm Desert
° Palm Springs ° Rancho Mirage ° County of Riverside ° Coachella Valley Water District ° Imperial Irrigation District
2 February 2021
REQUEST FOR COMMENTS: CVCC 20-006 Travertine Project
TRG Land has submitted a Joint Project Review (JPR) for the Travertine project, a multiple -use
development located in the City of La Quinta. The 855 -acre development will consist of low and medium
density residential housing; retail and hospitality services; and recreation, open space, and conservation
land. Approximately 315 acres of the project footprint is located within the Santa Rosa and San Jacinto
Mountains Conservation Area and is thus subject to review under section 6.6.1.1 of the Coachella Valley
Multiple Species Habitat Conservation Plan (CVMSHCP).
The development project will result in 6.5 acres of disturbance inside the Conservation Area, however,
none of this disturbance will impact modeled habitat for any covered species, natural community, or
essential ecological process covered by the CVMSHCP. An additional 2.25 acres of development will
occur within the Conservation Area on land owned by the Bureau of Land Management, who is not a
signatory under the CVMSHCP and whose land is not covered by the JPR process. The Travertine project
has also been issued a United States Fish and Wildlife Service Section 7 Biological Opinion covering
federal take authorization for Peninsular bighorn sheep.
Coachella Valley Conservation Commission staff have assessed these impacts on the stated
Conservation Objectives for the Santa Rosa and San Jacinto Mountains Conservation Area and present
their findings in the included draft report. The report is being sent to the project applicant, local permittee,
and the wildlife agencies for comment.
COMMENTS MUST BE RECEIVED NO LATER THAN 4 MARCH 2021.
Comments should be sent to:
Peter Satin
Coachella Valley Conservation Commission
73-710 Fred Waring Drive, Suite 200
Palm Desert, CA 92260
760.356.1127
psatincvaq.orq
Attachments:
Draft Joint Project Review report
Project description provided by applicant
Avoidance, Minimization, and Mitigation measures and Land Use Adjacency guidelines
Original project application
73-710 Fred Waring Drive, Suite 200 Palm Desert, CA 92260 (760) 346-1127 FAX (760) 340-5949
Coachella Valley Conservation Commission
Draft Joint Project Review
Submitted 2 February 2021
Project Summary
CVCC
Applicant
TRG Land, Inc
CVCC ID
20-006
Permittee(s)
City of La Quinta
APN
753040014, 753040016, 753040017, 753050007,
753050013,
753050029, 753060003, 753070005, 753080003,
753080005,
753080006, 764280057, 764280059, 764280061,
766110002,
766110003, 766110004, 766110005, 766110007,
766110009,
766120001, 766120002, 766120003, 766120006,
766120015,
766120016, 766120018, 766120021, 766120023
Total Acreage
855.4 acres
Conservation Area
Santa Rosa and San Jacinto Mountains
Conservation Area
6.5 acres
Disturbance Acreage
Introduction
The Coachella Valley Conservation Commission (CVCC) is a joint powers authority tasked with
overseeing the implementation of the Coachella Valley Multiple Species Habitat Conservation
Plan (CVMSHCP or Plan). Among other responsibilities, CVCC is tasked with conducting the Joint
Project Review (JPR) process as defined in section 6.6.1.1 of the Plan for any potential
development taking place in a Conservation Area that may impact Conservation Objectives. The
JPR process allows CVCC to facilitate and monitor the implementation of the CVMSHCP and to
assist Local Permittees in meeting the Conservation Goals and Objectives of the Plan. The
intention of this JPR document is to inform Permittee(s) whether a proposed development project
complies with Plan requirements, and in no way limits their land use authority.
The JPR process is designed to streamline appropriate development projects while maintaining
adequate time for regulatory review. Within 30 days of receipt of project information from a Local
Permittee, CVCC will conduct a geospatial analysis of how the project may impact Conservation
Area Conservation Objectives and Required Measures as described in section 4.3, rough step
parameters as described in section 6.5, and Covered Species Goals and Objectives as described
in section 9. CVCC will prepare their findings for comment and submit them to the Local Permittee,
the project applicant, and the United States Fish and Wildlife Service (USFWS) and California
Department of Fish and Wildlife (CDFW) (collectively, Wildlife Agencies). The Wildlife Agencies
will provide any comments to CVCC within 30 days, after which CVCC will finalize its
recommendation regarding project compliance and submit to the Local Permittee. Additional
consultation between CVCC, the project applicant, and the Local Permittee may be required if
inconsistencies with Plan requirements are identified.
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Figure 1: Project location with the Coachella Valley.
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Disdaima: Maps and data are to be used for reference
purposes only. Map features ere approximate, and are not
necessarily accurate to surveying or engineering standards.
CVCC, theapplicant, and the County of Riverside rrwftre no warranty
a guarantee as to the content {the source is often thrd partyl,
accuracy, timelines, or completeness of arty of the data provided,
and assumes no legal responsibility fa the information corrtained on
this map Any use of this product with respect to accuracy and
precision shall be the sole responsibility d the user.
2
Project Description
The proposed Travertine project (Project) is located primarily within the boundaries of the City of
La Quinta and will impact land within the Santa Rosa and San Jacinto Mountains Conservation
Area (SRSJM) (Figure 1). A small portion of the project will impact land owned by the Bureau of
Land Management (BLM) within SRSJM (Figure 2); however, because the BLM is not a signatory
to the CVMSHCP and BLM land is not covered, that portion will not be reviewed here. The Project
proposes an 855 -acre mixed use development to include low and medium density residential
housing, hospitality and commercial services, and recreation, open space, and natural areas. A
full project description provided by the applicant is included as Appendix A.
The proposed Project warrants special consideration under the CVMSHCP. Prior to the approval
of state and federal permits for the Plan, the Project had initiated Section 7 consultations with
USFWS. As detailed in section 4.3.21 of the CVMSHCP under Required Measures for the SRSJM
Conservation Area, any species issued permits through the USFWS Biological Opinion for this
Project would not require take authorization through the Plan. Any conservation measures listed
for those species would not apply unless incorporated into the Biological Opinion. For those
Covered Species not included in the Biological Opinion, the Project constitutes a Covered Activity
governed by special provisions.
Project Impacts and Proposed Conservation Measures
The impacts subject to this review involve the construction of two water tanks and associated
infrastructure resulting in disturbance of 6.51 acres of land within SRSJM (Figure 2). As noted in
the findings section of this report, this 6.5 acres of disturbance does not impact the conservation
objectives for Peninsular bighorn sheep, desert tortoise, or Le Conte's thrasher. The proposed
trail plan for Travertine has been revised in consultation with the CVCC to relocate trail routes to
avoid entry into the Conservation Area. With this change, the trail plan is no longer subject to the
JPR process.
As required by the Biological Opinion, the Project applicant will permanently conserve through
deed restriction 294.75 acres of on-site property, with 147.75 acres occurring within SRSJM. An
additional 10.75 acres of off-site conservation also falls within the Conservation Area. Since this
is required mitigation acreage, it cannot be counted toward the Conservation Objectives of the
Plan.
The Biological Opinion further requires a fencing contingency plan to be drafted by the applicant
and for fencing easements to be granted to the appropriate agency along the outermost perimeter
of the project. This conservation measure supersedes required measure 11 of section 4.3.21 of
the CVMSHCP describing similar actions.
The portion of the project on BLM land and not subject to this review is projected to disturb 2.25
acres. All disturbance acreages were determined independently by CVCC staff using impact data
provided by the applicant and controlling for acreage previously considered disturbed.
1 All acreages are rounded to the nearest quarter -acre.
3
Impacts to Covered Species, Natural Communities, and Essential Ecological Processes are
described in the following section.
Conservation Assessment
Santa Rosa and San Jacinto Mountains Conservation Area
The primary conservation focus of SRSJM is to protect essential habitat for Peninsular bighorn
sheep. This Conservation Area also provides potential habitat for gray vireo and desert tortoise,
although respective occupation and population densities for these species is not well known. It
also provides migration and breeding habitat for many of the Plan's riparian species, and natural
communities including desert fan palm oases. Of note, SRSJM contains at least one occurrence
of triple -ribbed milkvetch that appears to be disjunct from other known occurrences within the
CVMSHCP and numerous recorded burrowing owl locations. Small amounts of Other Conserved
Habitat (OCH) for Coachella Valley milkvetch, Coachella Valley giant sand -treader cricket,
Coachella Valley Jerusalem cricket, Coachella Valley fringe -toed lizard, flat -tailed horned lizard,
Le Conte's thrasher, Coachella Valley round -tailed ground squirrel, and Palm Springs pocket
mouse are also found in SRSJM. Hydrological processes necessary for the maintenance of desert
dry wash, desert fan palm oases, and other riparian habitats are considered Essential Ecological
Processes for the Conservation Area.
Conservation Objectives for SRSJM include the conservation of essential habitat for Peninsular
bighorn sheep, the conservation of known and potential habitat for gray vireo, the conservation of
OCH for Le Conte's thrasher and desert tortoise, and the conservation of occupied burrowing owl
burrows. Natural communities prioritized for conservation include southern willow arroyo riparian
forest, desert fan palm oasis woodland, and semi desert chapparal. Conservation Objectives are
detailed more fully in section 4.3.21 of the Plan. Conservation and take authorization specific to
the City of La Quinta pertain to OCH for Le Conte's thrasher and desert tortoise, essential habitat
for Peninsular bighorn sheep, and desert dry wash woodland.
USFWS 2005 Biological Opinion
The Project applicant initiated a Section 7 consultation with USFWS in 2004, which was finalized
in 2005. USFWS was concerned about impacts to triple -ribbed milkvetch, desert tortoise, and
Peninsular bighorn sheep. Following expert review, field surveys, and Project reconfiguration,
USFWS determined that milkvetch and desert tortoise were unlikely to be affected, and the
resulting Biological Opinion applies exclusively to Peninsular bighorn sheep. In accordance with
the special provisions discussed above, the Project applicant will not require federal take
authorization through the Plan for bighorn sheep.
In light of the 2005 Biological Opinion providing take for Peninsular bighorn sheep, this report
applies only to federal take authorizations for OCH for Le Conte's thrasher and desert tortoise,
and state take authorizations for essential habitat for Peninsular bighorn sheep, OCH for Le
Conte's thrasher and desert tortoise, and dry desert wash woodland.
Findings
4
Geospatial analysis of the disturbance footprint subject to review determined that the Project
would have no detrimental impact on essential habitat for Peninsular bighorn sheep, OCH for Le
Conte's thrasher and desert tortoise, or desert dry wash woodland (Table 1). A small, 0.5 -acre
portion of the impact from the water tanks intersects some of the modeled habitat for each of the
above, but after reviewing County of Riverside parcel data and consulting with the Project
applicant, this overlap is believed to be the result of a mapping error (Figure 3).
Rough Step Analysis
The rough step analysis, as described in section 6.5 of the CVMSHCP, is used to determine
whether a proposed disturbance would have an outsized negative impact on the availability of
conservation land within a given Conservation Area for a specific Conservation Objective. It is
meant to ensure that the potential conservation opportunities remain in "rough step" with the
projected development. A positive rough step calculation indicates a surplus of allowable
disturbance acreage for a particular Conservation Objective, while a negative rough step
calculation signifies that the target habitat is being overdeveloped by the resulting acreage. In
such an instance, the planned disturbance would be outside the parameters of the Plan and
conservation actions must take place prior to the authorization of additional habitat disturbance.
The Project as proposed maintains a positive rough step balance for each of the relevant
Conservation Objectives (Table 1).
Table 1: Project impacts per Conservation Objective for the City of La Quinta.
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Le Conte's thrasher — Other Conserved Habitat 0 43 15.75 0 387
Desert tortoise — Other Conserved Habitat 0 157 57.25 0 1409
Peninsular bighorn sheep — Essential Habitat (R3) 0 159 40 0 2545
Desert dry wash 0 8 2.25 0 76
The proposed Project disturbance after subtracting existing disturbance.
2The maximum amount of disturbance allowed to be consistent with Plan requirements for the Project area.
3Rough step is calculated based on all development and conservation from 1996 to present.
4Acres of land within Conservation Area conserved by applicant.
3Target conservation acres as proposed by the Plan.
Agency Comments
A draft version of this report was submitted to the Wildlife Agencies for comment on 2 February
2021. Their response will be summarized in the final Joint Project Review for this Project and
included in full as Appendix B.
5
[Summary of Wildlife Agency comments]
Conclusions
This report has found the Project as proposed in compliance with the CVMSHCP, notwithstanding
those elements covered by the 2005 USFWS Biological Opinion. Projected impacts to Essential
Habitat for Peninsular bighorn sheep, Other Conserved Habitat for Le Conte's thrasher and desert
tortoise, and desert dry wash woodland are all within authorized limits for the City of La Quinta.
Rough step analysis for each of the Conservation Objectives yields a positive result, indicating
development has not outpaced conservation for the City within SRSJM.
Project approval by the Local Permittee shall be conditioned on the incorporation of all pertinent
Avoidance, Minimization, and Mitigation measures (AMMs) and Land Use Adjacency Guidelines
as described in sections 4.4 and 4.5 of the Plan and included here as Appendix C. Special
consideration should be given to AMMs for burrowing owl, desert tortoise, Le Conte's thrasher,
and Peninsular bighorn sheep habitat. Approval shall also be contingent on the applicant's
fulfilment of the financial responsibilities identified in item 2.e of the required measures for SRSJM
in section 4.3.21.
6
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Figure 2: Project footprint and surrounding land status.
Bureau of Land Management
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CVCC, the applicant, and the County of Riverside m e no warranty
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accuracy, timeliness, or completeness of any of the data provided.
and assumes no legal res pons i bility for the information contained on
this map Any use of this product with respect to accuracy and
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Disclaimer: Maps and data are to be used for reference
purposes only. Map features are approximate, and are not
necessarily accurate to surveying a engineering standards.
CVCC, the applicant, and the County of Riverside make no warranty
a guarantee as to the content {the source is often 'hid party},
accuraoi, timeliness, or completeness of any of the data provided,
and assumes no legal responsibility for the information contained on
this map Any use of tha product with respect to acr_urao and
precision shall be the sole responsibility d the user.
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8
TRAVERTINE PROJECT
Coachella Valley Conservation Commission
December 3, 2020
TRAVERTINE PROJECT
Page 2 of 30
TRAVERTINE PROJECT
Tables of Contents
Exhibit 1 - Regional Location Map 4
Exhibit 2 - Vicinity Map 5
Exhibit 3 — Site Location Map 6
1. PROPOSED PROJECT 7
1.1 Project Objectives 7
1.2 Project History 8
Exhibit 4 — City of La Quinta — Existing General Plan / 1999 Specific Plan 12
Exhibit 5 — Proposed General Plan Land Use 13
1.3 Project Description 14
Table 2: Proposed Planning Area Summary 15
1.3.1 Residential Planning Areas 16
Exhibit 6 — Planning Area Land Use Plan 17
1.3.2 Tourist Serving Recreational Facilities 18
Table 3: Proposed Uses and Amenities for Resort/Golf Planning Areas 18
1.3.3 Open Space/Recreation Planning Areas 18
1.3.4 Open Space/Natural Planning Areas 18
1.3.5 Recreational Amenities 20
Exhibit 7 — Recreation Plan 21
1.3.6 Master Planned Roads 22
Exhibit 8 — Circulation Plan 23
1.3.7 Infrastructure 24
Exhibit 9 — Grading Plan 25
Exhibit 10 — Conceptual Hydrology 26
Exhibit 11 —Conceptual Water Plan 28
Exhibit 12 —Conceptual Sewer Plan 30
Page 3 of 30
TRAVERTINE PROJECT
Exhibit 1 - Regional Location Map
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Page 4 of 30
TRAVERTINE PROJECT
Exhibit 2 - Vicinity Map
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Page 5 of 30
TRAVERTINE PROJECT
Exhibit 3 — Site Location Map
LEGEND
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Section Lines*
Section Line Numbers
Project Boundary
1 City of La Quinta Boundary
'I he Public Land Surrey System (PLssj
Section—ore-square-mile block of lana cortaining 642 acres. orapproxlmelely
one fnlrly-sixth of s township. Due to the ouvalure of the Earth, seotlons may
...orally be slightly smaller than ore square mile
From 0522 7 5 Inlnute Sumas Martinez Mountain Quadrangle. CH 2015
Page 6 of 30
TRAVERTINE PROJECT
1. PROPOSED PROJECT
1.1 Project Objectives
The Travertine Specific Plan serves as an overall framework to conscientiously guide
development of the proposed project. To ensure the functional integrity, economic viability,
environmental sensitivity, and positive aesthetic impact of this Specific Plan, planning and
development goals for the project were established and supported through an extensive analysis. This
analysis includes an examination of project environmental constraints, engineering feasibility, market
acceptance, economic viability, City General Plan goals, development phasing, and local community
goals.
The Travertine Specific Plan has identified the following Project objectives:
• To enhance the existing trail system by adding a staging and parking area and access from
the proposed extension of Jefferson.
• Provide an interpretive trail element that circumnavigates the project and identifies the
unique features both historical and current within the project setting.
• To focus the activities for the community on walking and hiking as well as providing a major
recreational facility along the eastern edge of the project.
• The primary goal of the Amendment is to reduce the overall intensity of the 1995 approved
Specific Plan.
• Establish a distinctive community character through place -making elements that embrace
and respect the site's special physical attributes, as well as authentic architecture that reflects
local heritage.
• Provide a comprehensive system of parks and recreation facilities and services that meet the
active and passive needs of all residents and visitors.
• Contribute to the preservation, conservation and management of open space lands and scenic
resources for enhanced recreational, environmental and economic purposes.
• Provide protection of the health, safety, and welfare of the community from flooding and
hydrological hazards.
The following Project objectives have been identified for the EIR:
• To contribute to the reduction of air emissions generated within the City.
• Provide a regulatory framework that facilitates and encourages energy and water
conservation through sustainable site planning, project design, and green technologies and
building materials.
Page 7 of 30
TRAVERTINE PROJECT
• Assist in the protection and preservation of native and environmentally significant biological
resources and their habitats.
• Assist in the protection and preservation of cultural resources.
• Contribute to the preservation, conservation and management of the City's open space lands
and scenic resources for enhanced recreation, environmental and economic purposes.
• Provide protection of the residents' health and safety, and of their property, from geologic
and seismic hazards.
• Provide protection of the health and safety, and welfare of the community from flooding and
hydrological hazards.
• Provide protection of residents from the potential impacts of hazardous and toxic materials.
• Provide a healthful noise environment which complements the City's residential and
Resort/Spa character.
• Provide housing opportunities that meet the diverse needs of the City's existing and
projected population.
• Provide public facilities and services that are available, adequate and convenient to all City
residents.
• Provide a circulation system that promotes and enhances transit, alternative vehicle, bicycle
and pedestrian systems.
• Provide domestic water, sewer and flood control infrastructure and services which
adequately serve the project development and the existing and long-term needs of the City.
1.2 Project History
The project site is located on an alluvial fan emanating from the Santa Rosa Mountains in the
southeast portion of the City of La Quinta. The only known land use of the site can be seen in an area
near the center of the site, see Exhibit 3; this area was used as a vineyard that included, grape vines,
irrigation lines, access roads. The vineyard is no longer active and appears to have ceased operation
sometime in 2005-2006.
In 1988-1989 the project site was part of a proposed land exchange, the Toro Canyon Land Exchange,
between the Bureau of Land Management (BLM) and the Nature Conservancy, to dispose of public
lands that would be more suitable for development in exchange for private land further to the south
that provides important habitat for Bighorn Sheep. An EA was prepared for the land exchange. The
EA concluded that the private land offered in the exchange would now be protected as federal
resources in support of Bighorn Sheep and critical habitat. Also, as part of the land exchange, the
Travertine project site would be available for development in accordance with the land use planning
designations imposed by the City of La Quinta. The exchange consisted of the following:
• Five sections of land within the Santa Rosa Mountains, four sections owned by Travertine
property owners and one section owned by the Nature Conservancy; together comprising 3,207
acres within the Santa Rosa Mountain National Scenic Area, offered to the BLM.
Page 8 of 30
TRAVERTINE PROJECT
• One section of land owned by the BLM comprising approximately 639 acres offered to the
Travertine property owners.
• Upon approval of the Toro Canyon land exchange, the 639 acres were combined with
approximately 270 acres of adjacent acres to create the Travertine project site for a total of
approximately 909 acres of developable land.
The County of Riverside included the Travertine project site within its Eastern Coachella Valley
Community Plan (ECVCP). The ECVCP land use designation for the site's lower elevation - the
flatter portions of the site - was "Planned Residential Reserve". This designation was intended to
allow for large scale, self-contained Resort/Spa communities. The steeper portions of the site were
designated as "Mountainous Areas" in the ECVCP where limited land uses permitted in areas covered
by this designation included Open Space, limited recreational uses, limited single family residential,
landfills and resource development.
Once the Toro Canyon land exchange was approved, the City of La Quinta began annexation
proceedings with the county if Riverside for the Travertine project site. The annexation was
completed in 1993 with the project site designated as Low Density Residential (LDR, 2 to 4 du/ac)
and Open Space (1 du/ac) land uses.
In June 1995, the Travertine Specific Plan was approved and an EIR was certified by the La Quinta
City Council by adoption of Resolutions 95-38 and 95-39, subject to conditions of approval and a
Mitigation Monitoring and Reporting Program (MMRP). Along with the Specific Plan, the
corresponding General Plan Amendment and Change of Zone were also approved. The Specific Plan
identified a number of land uses including:
• Very Low Density Residential
• Medium Residential
• Medium High Residential
• Neighborhood Commercial
• Tourist Commercial
• Golf Course Open Space
In June 1999, the La Quinta Planning Commission re -approved the Specific Plan for the Travertine
project site to allow for an indefinite extension of time by adoption of Resolution 99-061.
In June 2004, a request was submitted to the U.S. Fish and Wildlife Service (USFWS) to initiate a
Section 7 consultation regarding the impacts to the Peninsular Bighorn Sheep and its designated
critical habitat. A Biological Opinion (BO) was completed by the USFWS in December 2005 that
evaluated the biological resources on the project site in a Biological Assessments (BA). The
Travertine property owners had acquired several areas off-site to preserve open space habitat for the
Bighorn Sheep and had proposed several mitigation measures in the time between the initial Specific
Plan approval (1995) and the start of the Section 7 consultations (2005). The BO concluded that the
mitigation measures proposed by Travertine, including the setbacks from habitat and the types of
vegetation allowed near the southern and western property lines, would be appropriate for the
preservation of any critical habitat that existed in the area and that the development of the site as
Page 9 of 30
TRAVERTINE PROJECT
previously approved, would not interfere with the Bighorn Sheep or its critical habitat.
Table 1: Approved Specific Plan and Proposed Specific Plan Comparison
Previously Approved Specific Plan
Proposed Specific Plan Amendment
Bounded by Avenue 60 to the North, Avenue
64and BLM Land to the South, Madison
Street to East and Jefferson Street to the
West
909 -acres
2,300 Residential Dwelling Units
10 -acres of Commercial
500 Room Resort / Hotel
36 — Hole Golf Course
Tennis Club
Private Recreation in Individual Developments
378 -acres of Open Space Recreation (all golf
course)
Bounded by Avenue 60 to the North, Avenue 64
and BLM Land to the South, Madison
Street to East and Jefferson Street to the
West
855 -acres
1,200 Residential Dwelling Units
100 Villa Resort and Wellness Spa
Golf Facility with associated Recreational and
Commercial Elements
Tennis Club Removed
Private Recreation in Individual Developments
55.9 -acres Open Space / Recreational
301.2 Open Space Natural/ Preserved
Page 10 of 30
TRAVERTINE PROJECT
The current plan:
• Preserves 35% of the project area as permanent open space.
• Reduces the number of dwelling units by 1,100 residences or 52%
• Reduces the acreage of golf uses from 363 acres to 46.2 acres or 79%
• Reduces the number of resort rooms from 500 to 100 or 80%
Page 11 of 30
TRAVERTINE PROJECT
Exhibit 4 — City of La Quinta — Existing General Plan / 1999 Specific Plan
,1 ( A (
1 I
I 1
CORAL
CANYON -4
(FUTURE) ;X'
LEGEND
Law Density Residential
Medium/High Density Residential
General Commercial
Tourist Commercial
Major Community Facilities
Open Space - Recreation
Proposed Specific Plan Boundary
Existing Specific Plan Boundary
Page 12 of 30
TRAVERTINE PROJECT
Exhibit 5 — Proposed General Plan Land Use
Dike 2
-• AVENUE 58
,, CORAL
CANYON
(FUTURE)
\
Coral
Mountain
1
Dike 4
AVENUE 60
•
AVENUE 62
1I
ri
Martinez
Rock Siidc
ii„, , ,,,,_-____
, k—
y,___ uL
LEGEND
Low Density Residential
Medium ! High Density Residential
Tourist Commercial
Open Space - Recreation
Open Space - Natural
Proposed Specific Plan Boundary
Page 13 of 30
TRAVERTINE PROJECT
1.3 Project Description
The proposed Specific Plan Amendment area covers an area of approximately 855 acres. As shown
in Exhibit 5, Proposed General Plan Land Use Map, the proposed project will be comprised of a
variety of land uses. Residential land uses will range from low density (1.5 to 4.5 dwelling units per
acre) to medium density (4.5 to 8.5 dwelling units per acre). A resort/spa facility will serve residents,
tourists and recreational visitors, including a 40,058 -square -foot boutique hotel with a 175 -seat
restaurant, and 100 resort villas totaling 210,000 square -foot. The resort/spa will also allow for a
11,654 -square -foot spa and wellness center. The golf training facility with a 2,000 -square -foot
clubhouse/locker room and 46,378 -square -foot banquet facility and 15,904 square foot restaurant will
provide recreational and dining opportunities to serve the daily needs of the community and its
visitors. Table 1, Proposed Planning Area Summary, shows the land use associated with each
planning area. Exhibit 6, Planning Area Land Use Plan, shows the location of each project planning
area.
The project components shall include:
• 1,200 Dwelling Units of varying types
o 758 Low Density Units and 442 Medium Density Units
o Estate Homes, Single Family Luxury Homes, Single Family Mid Homes, Single Family
Entry Homes, Patio Homes, Single Family Attached Units
• Golf training facility
• 100 -villa resort
• Wellness Spa
• Tourist serving recreational facilities and amenities including restaurants, small shops, spa
facilities, lounge and activity rooms, outdoor activities, tennis, yoga, etc.
• Bike lanes throughout community, including Class II bike lanes located along both sides of
Jefferson Street
• Pedestrian walkways and a Travertine community trail — a network of trails suitable for
pedestrian use planned throughout the community
• Recreational Open Space uses, including picnic tables, barbeques, golf training facilities, a tot
lot playground and staging facilities for the regional interpretive trail
• One staging area located to the south of the Avenue 62 extension with parking
• CVWD Well Sites (quantity to be determined by CVWD)
• Future 5 -acre IID substation will be located off-site within a 2.5 -mile radius of the project
area.
• Perimeter flood protection barrier along the western and southern boundaries to manage
alluvial fan flows. The barrier will consist of a raised edge condition with a slope lining to
protect against scour and erosion.
• Two off-site booster stations. One on Avenue 62, east of the project site, and the second at
Avenue 58 and Dike #2, north of the project site.
Page 14 of 30
TRAVERTINE PROJECT
Table 2: Proposed Planning Area Summary
PA
Land Use
Acres
Density
Range (du/ac)
Target
Density (du/ac)
Target
Units
1
Resort/Spa
Boutique Hotel (175 -seat restaurant) - 40,058 sf
Resort Villas - 210,000 sf
Spa and Wellness -11,654 sf
38.3
Section 5 Access & PA Access
1.2
100 villas
2
Medium Density Residential
25.9
4.5-8.5
7.9
205
3
Low Density Residential
29.4
1.5-4.5
2.9
85
4
Low Density Residential
9.6
1.5-4.5
2.8
27
5
Low Density Residential
16.2
1.5-4.5
1.9
31
6
Medium Density Residential
20.1
4.5-8.5
8.1
163
7
Low Density Residential
18.7
1.5-4.5
3.2
61
8
Low Density Residential
16.9
1.5-4.5
4.3
73
9
Medium Density Residential
14.8
4.5-8.5
5.0
74
10
Low Density Residential
25.6
1.5-4.5
2.9
75
11
Resort / Golf
Banquet Facility -46,378 sf
Golf Clubhouse Restaurant -15,904 sf
Golf Clubhouse Locker Room - 2,000 sf
46.2
12
Low Density Residential
52.2
1.5-4.5
2.3
107
13
Low Density Residential
26.7
1.5-4.5
1.8
48
14
Low Density Residential
39.0
1.5-4.5
1.6
65
15
Low Density Residential
33.3
1.5-4.5
2.2
70
16
Low Density Residential
50.4
1.5-4.5
2.3
116
17
Open Space Recreational
18.1
18
Open Space Recreational
14.7
19
Open Space Recreational
23.1
20
Open Space Natural
301.2
21
Master Planned Roadways
35.0
Total
855.4
1,200 DU
100 villas
Master Planned Roadways
Roadways
Acres
Jefferson Street
17.1
Loop West
9.7
Loop East
5.5
Section 5 Access & PA Access
1.2
Madison EVA
1.5
Total
35.0
Page 15 of 30
TRAVERTINE PROJECT
1.3.1 Residential Planning Areas
Residential areas account for approximately 44.2 percent of the project's total land area. The project
proposes a maximum of 1,200 dwelling units based on a range of lot sizes. Residential planning areas
would vary in density from 1.5 du/ac to 8.5 du/ac, resulting in an overall average density for the
project of 1.4 du/gross ac. Planning areas 2 through 10, and 12 through 16, totaling approximately
378.9 acres, are designated for residential land uses. (See Exhibit 6 — Planning Area Land Use Plan).
Planning Areas 3, 4, 5, 7, 8, and 10 and 12 through 16 will have a maximum overall density of 4.5
du/ac and Planning Areas 2, 6 and 9 would have maximum overall density of 8.5 du/ac. Based on the
target density for each residential planning area the proposed project would include 442 medium
density (4.5-8.5 du/ac) residential dwelling units and 758 low density (1.5-4.5 du/ac) residential
dwelling units. The Low -Density Residential category will be characterized by larger single-family
residential lots (6,300 to 9,600 square feet). The Medium Density Residential planning areas are
intended to provide medium density, single-family residential products to accommodate lots ranging
from 4,000 to 5,775 square feet.
In conformance with project goals, several housing styles are proposed that comply with the
maximum density for each planning area. Residential product types would vary to meet market
demand but are anticipated to include the following:
• Estate Homes
• Single Family Luxury Homes
• Single Family Mid Homes
• Single Family Entry Homes
• Patio Homes
• Single Family Attached Units
Travertine will offer a variety of housing sizes and styles designed to meet the needs of all age groups.
The Specific Plan Amendment incorporates neighborhood design and sustainability principles.
Page 16 of 30
TRAVERTINE PROJECT
Exhibit 6 — Planning Area Land Use Plan
LEGEND
Low Density Residential - 318.1 Ac
Medium Density Residential - 60.8 Ac
Resort - Golf Glut) - 84.5 Ac
Open Space 1 Recreational - 55.9 Ac
Open Space 1 Natural - 301.2 Ac
Master Planned Roadways - 35.0 Ac
Total Acreage: 855.4 Au
Page 17 of 30
TRAVERTINE PROJECT
1.3.2 Tourist Serving Recreational Facilities
A luxury resort, wellness spa and golf training facility are planned for an approximately 84.5 -acre
site located in Planning Areas 1 and 11. These areas will consist of resort related amenities including
restaurants, small shops, spa facilities, lounge and activity rooms, outdoor activities, yoga, walking
and hiking trails. The resort planning areas are anticipated to provide 100 -villas and a golf training
facility. Table 2 Proposed Uses and Amenities for Resort/Golf Planning Areas shows additional
details.
Table 3: Proposed Uses and Amenities for Resort/Golf Planning Areas
Planning
Area
Proposed Use
Estimated Indoor
Area (Square Feet)
1
Boutique Hotel & (175 -seat restaurant)
40,058
1
Resort Villas
210,000
1
Spa and Wellness
11,654
11
Banquet Facility
46,378
11
Banquet Facility Restaurant
15,904
11
Golf Clubhouse Locker Room
2,000
1.3.3 Open Space/Recreation Planning Areas
Open Space Recreational areas include Planning Areas 17, 18, and 19, and encompass a total of
55.9 acres of the approximately 855 -acre site. Exhibit 6 shows the proposed planning area land use
locations. Exhibit 7, Recreation Plan, shows areas designated as Open Space, as well as the proposed
recreational trails.
A golf training facility is located near the southeastern entry to the project on approximately 46.2
acres (Planning Area 11). This will provide a high-end practice and training facility for both the
residents and guests.
1.3.4 Open Space/Natural Planning Areas
Open Space Natural Areas include Planning Area 20 and encompass approximately 301.2 acres. An
area of land along the southern, western and eastern boundaries of the site is restricted from
development due to various environmental constraints including biological, geological and cultural
resources.
Portions of the open space/natural area were determined to be of biological importance by the US
Fish and Wildlife Service (USFWS) through the Biological Opinion completed in 2005 and the
subsequent federal Environmental Assessment completed in 2006.
Page 18 of 30
TRAVERTINE PROJECT
Equestrian/multi-use trails are provided in the Specific Plan. This plan will incorporate access,
signage, and detailed design. The area along the southern edge of this site, adjacent to the Martinez
Rock Slide, will be limited to recreational uses. As part of the recreational plan and trail system, an
interpretive design element will provide signage and educational information to discourage
trespassing on unauthorized areas of cultural significance. A cultural resources study has been
conducted for development near the Martinez Rock Slide, and local tribes have been contacted as part
of the procedures. This area is designated as a buffer between the residential development and the
natural open space of the foothills of the Santa Rosa Mountains. This area will not include permanent
structures as required by the Biological Opinion completed by the US Fish and Wildlife Service in
2005.
The Conceptual Land Use Plan was developed with consideration of the environmental constraints
associated with the surrounding land, including adjacency to the Santa Rosa Mountains and
Martinez Rock Slide area to the south, Coral Mountain to the north, and the CVWD spreading
grounds to the east and northeast. Exhibit 6, Planning Area Land Use Plan shows the proposed land
use locations.
Access to the proposed water tanks will be provided from the project internal loop road, into
Planning Area 20 Open Space/Natural area and development of this area will be limited to the
project's water tanks and related infrastructure.
Page 19 of 30
TRAVERTINE PROJECT
1.3.5 Recreational Amenities
The Travertine project will offer a range of amenities that will be accessible to neighborhood
homeowners and the public. These recreational amenities include a two-mile long public trail that
will be developed around the perimeter of the project site; a central private spine trail that bisects the
residential areas of the property; on -street biking paths; preservation of natural open space; and
additional private parks located within the development areas. A golf training facility with club
facilities such as banquet facilities, will be open to residents, citizens of La Quinta and tourists. A
resort and spa with restaurants, shops and activities and a wellness facility will attract both residents and
visitors to the community.
Page 20 of 30
TRAVERTINE PROJECT
Exhibit 7 — Recreation Plan
/Dike 2 _
PROPOSED
JEFFERSON STREET I
CORAL 1447:44..
. f �
ND \)\
tt� (FUCATURE)YN �. 4��
4. Ilib r ' Coral
itt .41 Mountain
V ^`-, t i
Y
O=
5
Q9
Dike 4
— AVENUE60
L
e
0
-
�
' 0•
•
r
r i
AVENUE 62
LEGEND
Boo Hoff Trail
Community Grand Loop Trail
Open Desert Trail
Martinez
Rock Slide
i )
Strolling Trail
Interconnector Trail
Class H Bike Trail
Open Space / Recreational
Open Space / Natural
Parks
I 0 I
Trailhead
Page 21 of 30
TRAVERTINE PROJECT
1.3.6 Master Planned Roads
The development of the Travertine site provides for substantial improvements to several roadways, including
the southerly extension of Jefferson Street as a private Modified Secondary Arterial south of the proposed
Coral Mountain property and the westerly extension of Avenue 62 as a Modified Secondary Arterial. Loop
roads extended from both sides of the Jefferson Street spine via roundabout intersections.
Exhibit 8, Circulation Plan, shows the proposed alignment of Jefferson Street and the main loop road
within the project site. Access to the southwest portion of the development area (access to the proposed water
tanks) will be provided from the internal loop road. This area is Restricted Open Space, and development of
this area will be limited to the project's water tanks and related infrastructure.
Page 22 of 30
TRAVERTINE PROJECT
Exhibit 8 — Circulation Plan
LEGEND
Jefferson Street 1 Avenue 62
Loop Collector
Local Roads
101
Roundabout
P * 1 Gates
I Access Road
Madison Street EVA
Page 23 of 30
TRAVERTINE PROJECT
1.3.7 Infrastructure
Existing infrastructure on the project site is very limited as the site has not been previously
developed. The former vineyard area was provided with water from an on-site well. In addition to
the Master Planned Roadway system, the project also includes a master plan for infrastructure
including drainage features, underground utilities and water tanks.
Grading and Drainage
The project site slopes gently in a downslope direction from west to east and is subject to two types
of drainage conditions: alluvial fan flow and incised drainage corridors along inactive fans. Existing
drainages originate in the Santa Rosa Mountains to the west. Exhibit 9, shows the proposed Grading
Plan for the project. Exhibit 10, Conceptual Hydrology, illustrates the off-site and proposed on-
site water flow., The exhibit also shows a proposed perimeter flood barrier to divert watershed flows.
The project's flood control berms will be constructed to shield and encompass the project's
developable planning areas and convey upstream flow from Devils Canyon/Guadalupe Creek,
Middle North Canyon, Middle South Canyon, and Rock Avalanche Canyon downward towards
Dike No. 4 south of the proposed Avenue 62 crossing.
The drainage plan proposes to capture on-site flows and direct them across the project to the eastern
side of the project site. The intent is to capture all flows and detain them on-site in a series of basins
that will be developed with water quality best management practices (BMPs) to treat the water before
percolation into the ground. The proposed basins are designed to detain and percolate the projected
on-site flows created from impervious surfaces. Excess water relative to existing flows will not be
released unimpeded into the adjacent CVWD groundwater recharge ponds.
Page 24 of 30
TRAVERTINE PROJECT
Exhibit 9 - Grading Plan
CORAL
CANYON
(FUTURE) j.
Page 25 of 30
TRAVERTINE PROJECT
Exhibit 10 — Conceptual Hydrology
LEGEND
I— +I
Existing Major Watershed
Existing Sheet Flow
Watershed Diversion
ISI
Perimeter Flood Barrier
On -Site Drainage
WQMP Dasln
1•I
High Point
Page 26 of 30
TRAVERTINE PROJECT
Water
The Coachella Valley Water District (CVWD) currently has jurisdiction over domestic water service
to the project property illustrated in Exhibit 11, Conceptual Water Plan. Currently, domestic water
service lines exist in three areas near the project. These include the intersection of Avenue 60 and
from the Jefferson extension and Avenue 62. Water lines will be extended from Avenue 62 and the
proposed EVA to serve the project. Water lines will be connected prior to any construction.
Nine additional well sites are necessary to serve the project. One well will be constructed during
Phase I, located off the Travertine project site. The locations of the future well sites are currently
under discussion with CVWD and will be identified and analyzed in the EIR.
Additional facilities will include two water reservoirs and booster station(s) to collect well water and
store it at the appropriate elevation to provide the required water pressure for the site. Two off-site
booster stations currently exist near the project property. One booster station is located on Avenue
62, east of the project site, while the second booster station is located at Avenue 58 and Dike #2,
north of the project site. The project site will be served with a thirty -inch main line within Jefferson
Street/Madison Street alignments. Twelve -inch and smaller lines will then feed off the main line to
serve the individual developments along these public streets.
Water tanks are proposed to be developed to serve the site in Planning Area 23. The water tank
locations, including related facilities (road, pipelines, etc.), are subject to review and approval by the
USFWS. Permanent structures, with the exception of two water reservoirs, service roadway,
underground pipelines and ancillary facilities, as allowed through the consultation with the USFWS,
will be prohibited in the Restricted Open Space (Natural) area. A portion of the Open Space Natural
Planning Areas is located in a conservation area of the Coachella Valley Multiple -Species Habitat
Conservation Plan (CVMSHCP). The project will be required to undergo Joint Project Review (JPR)
for development of the water infrastructure improvements within the conservation area. During the
JPR process, the Coachella Valley Conservation Commission and other interested Wildlife Agencies
have the opportunity to comment on the proposed development. The JPR will be analyzed in the EIR.
Page 27 of 30
TRAVERTINE PROJECT
Exhibit 11 —Conceptual Water Plan
==,-_-:,-11 .✓1 i
•!i-� 1-,-1,-7_Y�1� ���\.‘„c1,10. �i
CANYON,��
iFUTUREI l, l��
o
.:747te)✓1
y
B �/ 1 1 Coral i�' N i
- c-/]
/ 1 I I
Dike a
r TJ1 I
\ mountain
2 -
v,V
tiqq - '•
Dike 2
PROPOSED
JEFFERSON STREET
yl
o�j
-- 41VENUF-_
__AVENUE 62
'
-17
ZONE 425 ZONE 335
1 12
�- =---- /
Martinez
Rock Slide %r
fi !-/// L-
rl°VU��i
•
j
�i
`ti __ -\,,,,,‘
LEGEND
I�1
Designate Zone Separation
335 Domestic Water Main
425 Domestic Water Man
Page 28 of 30
TRAVERTINE PROJECT
Sewer
The closest Coachella Valley Water District sewer connection currently exists at Monroe Street and
Avenue 62, approximately one mile east. The proposed facilities are comprised of a series of eight -
inch sewer lines serving the individual developments and flowing into the main sewer line located
within Jefferson Street/spine road alignment. The main sewer line increases in size as it extends
eastward, ranging from eight inches on the west side to 15 inches at Madison Street, where the line
exits the project site. The offsite sewer alignment and improvements will come from the east in
Avenue 62. The EIR will further analyze the impacts to sewer and the offsite extension. (See Exhibit
12, Conceptual Sewer Plan)
Utilities
Southern California Gas Company provides natural gas to the project site. Electric service to
Travertine will be provided by Imperial Irrigation District. An offsite substation will be required for
the Travertine development and will be located and constructed during Construction Phase I. The
five -acre site required by IID for a substation will be studied in the EIR.
The location of the five -acre site will be within a two-mile radius of the project. The routing of the
proposed service lines along the route to the site will be studied in the EIR.
Page 29 of 30
TRAVERTINE PROJECT
Exhibit 12 —Conceptual Sewer Plan
Dike 2
PROPOSED
JEFFERSON STREET
CORAL -7
CANYON
(FUTURE) � .
Irt
Coral A -
Mountain "1411
Dike 4
1 �� , t•, ti
ti
v \ '1); r'
--AVENUE-60
h /' \s L
n1 II �- �,
, �'
.\t `11-Y
u JC
��
T
• i tii
i y •s t t f l 1
! 1
\_,l mal
\ "I
1- \
Martinez
Rock Slide
/fi 11M
v /
4�=
_ _ _ AVENUE 62
p'-\
L, 7 �� _ flf_ ,
i- _.
--" _ _ 1- c......,:`,.,.
„ �' �,-'
LEGEND
'l Sewer Lines
Page 30 of 30
Appendix C
Appendix C: Avoidance, minimization, and mitigation measures and
land use adjacency guidelines
4.4 Avoidance, Minimization, and Mitigation Measures
Biological Corridors. Specific roads in Conservation Areas, where culverts or undercrossings
are required to maintain Biological Corridors, are delineated in the Section 4.3 subsections on
individual Conservation Areas.
Burrowing Owl. This measure does not apply to single-family residences and any non-
commercial accessory uses and structures including but not limited to second units on an existing
legal lot, or to O&M of Covered Activities other than levees, berms, dikes, and similar features
that are known to contain burrowing owl burrows. O&M of roads is not subject to this requirement.
For other projects that are subject to CEQA, the Permittees will require burrowing owl surveys in
the Conservation Areas using an accepted protocol (as determined by the CVCC in coordination
with the Permittees and the Wildlife Agencies). Prior to Development, the construction area and
adjacent areas within 500 feet of the Development site, or to the edge of the property if less than
500 feet, will be surveyed by an Acceptable Biologist for burrows that could be used by burrowing
owl. If a burrow is located, the biologist will determine if an owl is present in the burrow. If the
burrow is determined to be occupied, the burrow will be flagged and a 160 -foot buffer during the
non -breeding season and a 250 -foot buffer during the breeding season, or a buffer to the edge of
the property boundary if less than 500 feet, will be established around the burrow. The buffer will
be staked and flagged. No Development or O&M activities will be permitted within the buffer until
the young are no longer dependent on the burrow.
If the burrow is unoccupied, the burrow will be made inaccessible to owls, and the Covered Activity
may proceed. If either a nesting or escape burrow is occupied, owls shall be relocated pursuant
to accepted Wildlife Agency protocols. A burrow is assumed occupied if records indicate that,
based on surveys conducted following protocol, at least one burrowing owl has been observed
occupying a burrow on site during the past three years. If there are no records for the site, surveys
must be conducted to determine, prior to construction, if burrowing owls are present.
Determination of the appropriate method of relocation, such as eviction/passive relocation or
active relocation, shall be based on the specific site conditions (e.g., distance to nearest suitable
habitat and presence of burrows within that habitat) in coordination with the Wildlife Agencies.
Active relocation and eviction/passive relocation require the preservation and maintenance of
suitable burrowing owl habitat determined through coordination with the Wildlife Agencies.
Within one (1) year of Permit issuance, CVCC will cooperate with County Flood Control, CVWD
and IID to conduct an inventory of levees, berms, dikes, and similar features in the Plan Area
maintained by those Permittees. Burrowing owl burrow locations will be mapped and each of
these Permittees will incorporate the information into its O&M practices to avoid impacts to the
burrowing owl to the maximum extent Feasible. CVCC in cooperation with County Flood Control,
CVWD, and IID will prepare a manual for maintenance staff, educating them about the burrowing
owl and appropriate actions to take when owls are encountered to avoid impacts to the maximum
extent Feasible. The manual will be submitted to the Wildlife Agencies for review and comment
within two (2) years of Permit issuance. In conjunction with the Monitoring Program, the maps of
the burrowing owl locations along the above-described levees, berms, dikes, and similar features
will be periodically updated.
1
Appendix C
Covered Riparian Bird Species. This measure does not apply to single-family residences and
any non-commercial accessory uses and structures including but not limited to second units on
an existing legal lot. Riparian Habitat here refers to the following natural communities: southern
arroyo willow riparian forest, Sonoran cottonwood -willow riparian forest, desert fan palm oasis
woodland, and southern sycamore -alder riparian woodland in the Cabazon, Stubbe and
Cottonwood Canyons, Whitewater Canyon, Upper Mission Creek/Big Morongo Canyon,
Thousand Palms, Indio Hills Palms, Joshua Tree National Park, Mecca Hills and Orocopia
Mountains, Dos Palmas, Coachella Valley Stormwater Channel and Delta, and Santa Rosa and
San Jacinto Mountains Conservation Areas. Covered Activities, including O&M of facilities and
construction of permitted new projects, in riparian Habitat will be conducted to the maximum
extent Feasible outside of the March 15 — September 15 nesting season for least Bell's vireo, and
the May 1 — September 15 nesting season for southwestern willow flycatcher, summer tanager,
yellow warbler, and yellow -breasted chat. If Covered Activities must occur during the nesting
season, surveys shall be conducted to determine if any active nests are present. If active nests
are identified, the Covered Activity shall not be conducted within 200 feet of an active nest. If
surveys conducted during the nesting season document that Covered nesting riparian bird
Species are not present, the Covered Activity may proceed.
Crissal Thrasher. This measure does not apply to single-family residences and any non-
commercial accessory uses and structures including but not limited to second units on an existing
legal lot, or to O&M of Covered Activities. In modeled crissal thrasher Habitat in the Willow Hole,
Thousand Palms, Indio Hills Palms, East Indio Hills, Dos Palmas, and Coachella Valley
Stormwater Channel and Delta Conservation Areas, surveys will be conducted by an Acceptable
Biologist prior to the start of construction activities during the nesting season, January 15 — June
15, to determine if active nest sites for this species occur on the construction site and/or within
500 feet of the construction site, or to the edge of the property boundary if less than 500 feet. If
nesting crissal thrashers are found, a 500 -foot buffer, or a buffer to the edge of the property
boundary if less than 500 feet, will be established around the nest site. The buffer will be staked
and flagged. No construction activities will be permitted within the buffer during the breeding
season of January 15 — June 15 or until the young have fledged.
Desert tortoise. This measure does not apply to single-family residences and any non-
commercial accessory uses and structures, including but not limited to second units on an existing
legal lot, or to O&M of Covered Activities for Permittee infrastructure facilities. Within Conservation
Areas, the Permittees will require surveys for desert tortoise for Development in modeled desert
tortoise Habitat. Prior to Development, an Acceptable Biologist will conduct a presence/absence
survey of the Development area and adjacent areas within 200 feet of the Development area, or
to the property boundary if less than 200 feet and permission from the adjacent landowner cannot
be obtained, for fresh sign of desert tortoise, including live tortoises, tortoise remains, burrows,
tracks, scat, or egg shells. The presence/absence survey must be conducted during the window
between February 15 and October 31. Presence/absence surveys require 100% coverage of the
survey area. If no sign is found, a clearance survey is not required. A presence/absence survey
is valid for 90 days or indefinitely if tortoise -proof fencing is installed around the Development site.
If fresh sign is located, the Development area must be fenced with tortoise -proof fencing and a
clearance survey conducted during the clearance window. Desert tortoise clearance surveys shall
be conducted during the clearance window from February 15 to June 15 and September 1 to
October 31 or in accordance with the most recent Wildlife Agency protocols. Clearance surveys
must cover 100% of the Development area. A clearance survey must be conducted during
different tortoise activity periods (morning and afternoon). All tortoises encountered will be moved
from the Development site to a specified location. Prior to issuance of the Permits, CVCC will
either use the Permit Statement Pertaining to High Temperatures for Handling Desert Tortoises
2
Appendix C
and Guidelines for Handling Desert Tortoises During Construction Projects, revised July 1999, or
develop a similar protocol for relocation and monitoring of desert tortoise, to be reviewed and
approved by the Wildlife Agencies. Thereafter, the protocol will be revised as needed based on
the results of monitoring and other information that becomes available.
Inactive Season Protocol. This protocol is applicable to pre -construction and construction
phases of utility Covered Activity projects occurring between November 1 and February 14. These
protocols apply only to the site preparation and construction phases of projects. The project
proponent must follow the eight pre -construction protocol requirements listed below.
1. A person from the entity contracting the construction shall act as the contact person with
the representative of the appropriate RMUC. He/she will be responsible for overseeing
compliance with the protective stipulations as stated in this protocol.
2. Prior to any construction activity within the Conservation Areas, the contact person will
meet with the representative of the appropriate RMUC to review the plans for the project.
The representative of the appropriate RMUC will review alignment, pole spacing, clearing
limits, burrow locations, and other specific project plans which have the potential to affect
the desert tortoise. He or she may recommend modifications to the contact person to
further avoid or minimize potential impacts to desert tortoise.
3. The construction area shall be clearly fenced, marked, or flagged at the outer boundaries
to define the limits of construction activities. The construction right of- way shall normally
not exceed 50 feet in width for standard pipeline corridors, access roads and transmission
corridors, and shall be minimized to the maximum extent Feasible. Existing access roads
shall be used when available, and rights -of way for new and existing access roads shall
not exceed 20 feet in width unless topographic obstacles require greater road width. Other
construction areas including well sites, storage tank sites, substation sites, turnarounds,
and laydown/staging sites which require larger areas will be determined in the
preconstruction phase. All construction workers shall be instructed that their activities shall
be confined to locations within the fenced, flagged, or marked areas.
4. An Acceptable Biologist shall conduct pre -construction clearance surveys of all areas
potentially disturbed by the proposed project. Any winter burrows discovered in the
Conservation Areas during the pre -construction survey shall be avoided or mitigated. The
survey shall be submitted to the representative of the appropriate RMUC as part of plan
review.
5. All site mitigation criteria shall be determined in the pre -construction phase, including but
not limited to seeding, barrier fences, leveling, and laydown/staging areas, and will be
reviewed by the representative of the appropriate RMUC prior to implementation.
6. A worker education program shall be implemented prior to the onset of each construction
project. All construction employees shall be required to read an educational brochure
prepared by the representative of the appropriate RMUC and/or the RMOC and attends a
tortoise education class prior to the onset of construction or site entry. The class will
describe the sensitive species which may be found in the area, the purpose of the MSHCP
Reserve System, and the appropriate measures to take upon discovery of a sensitive
species. It will also cover construction techniques to minimize potential adverse impacts.
7. All pre -construction activities which could Take tortoises in any manner (e.g., driving off
an established road, clearing vegetation, etc.) shall occur under the supervision of an
Acceptable Biologist.
8. If there are unresolvable conflicts between the representative of the appropriate RMUC
and the contact person, then the matter will be arbitrated by the RMOC and, if necessary,
by CVCC.
3
Appendix C
The following terms are established to protect the desert tortoise during utility related construction
activities in the Conservation Areas and are to be conducted by an Acceptable Biologist.
• An Acceptable Biologist shall oversee construction activities to ensure compliance with
the protective stipulations for the desert tortoise.
• Desert tortoises found above ground inside the project area during construction shall be
moved by an Acceptable Biologist out of harm's way and placed in a winter den (at a
distance no greater than 250 feet). If a winter den cannot be located, the USFWS or CDFG
shall determine appropriate action with respect to the tortoise. Tortoises found above
ground shall be turned over to the Acceptable Biologist
• No handling of tortoises will occur when the air temperature at 15 centimeters above
ground exceeds 90 degrees Fahrenheit.
• Desert tortoise burrows shall be avoided to the maximum extent Feasible. An Acceptable
Biologist shall excavate any burrows which cannot be avoided and will be disturbed by
construction. Burrow excavation shall be conducted with the use of hand tools only, unless
the Acceptable Biologist determines that the burrow is unoccupied immediately prior to
burrow destruction.
• Only burrows within the limits of clearing and surface disturbance shall be excavated.
Burrows outside these limits, but at risk from accidental crushing, shall be protected by
the placement of deterrent barrier fencing between the burrow and the construction area.
Installation and removal of such barrier fencing shall be under the direction and
supervision of an Acceptable Biologist.
• For electrical transmission line and road construction projects, only burrows within the
right-of-way shall be excavated. Burrows outside the right-of-way, but at risk from
accidental crushing, shall be protected by the placement of deterrent barrier fencing
between the burrow and the right-of-way. Installation and removal of such barrier fencing
shall be under the direction and supervision of an Acceptable Biologist.
• Tortoises in the Conservation Areas are not to be removed from burrows until appropriate
action is determined by USFWS or CDFG with respect to the tortoise. The response shall
be carried out within 72 hours.
• Blasting is not permissible within 100 feet of an occupied tortoise burrow.
During construction, contractors will comply with the mitigation and minimization measures
contained within this protocol. These measures are:
• All trenches, pits, or other excavations shall be inspected for tortoises by an Acceptable
Biologist prior to filling.
• All pipes and culverts stored within desert tortoise Habitat shall have both ends capped to
prevent entry by desert tortoises. During construction, all open ended pipeline segments
that are welded in place shall be capped during periods of construction inactivity to prevent
entry by desert tortoises.
• Topsoil removed during trenching shall be re -spread on the pipeline construction area
following compaction of the backfill. The area shall be restored as determined during the
environmental review.
• All test pump water will be routed to the nearest wash or natural drainage. The route will
be surveyed by an Acceptable Biologist. If tortoises are found in the drainage area the
Acceptable Biologist will remove the tortoises.
• Powerlines associated with water development, such as to provide power for pumps,
should be buried underground adjacent to the pipe. All above ground structures deemed
to be necessary shall be equipped with functional anti -perching devices that would prevent
their use by ravens and other predatory birds, and shall adhere to the electrical distribution
protocol which follows.
4
Appendix C
• In order to perform routine O&M of the water systems such as wells, pumps, water lines
and storage tanks, etc., employees are to be trained in the area of desert tortoise
education. This training will be performed on a regular basis by an Acceptable Biologist
for those personnel not previously trained. The training will include at a minimum the
following: identification of tortoises, burrows, and other sign; and instructions on installing
tortoise barrier fencing. During the course of basic O&M, desert tortoise will be avoided.
Untrained employees shall not perform maintenance operations within the reserve.
• All disturbance areas around poles or concrete pads will be reduced to a size just large
enough for the construction activity.
• Areas disturbed around poles or construction pads will be restored as determined during
the pre -construction process.
• Poles or other above ground structures necessary for electrical distribution development
shall be minimized as much as possible. All above ground structures shall be equipped
with functional anti -perching devices that would prevent their use by ravens and other
predatory birds.
• In order to perform routine O&M of the electrical distribution systems such as transmission
lines and poles, substations, etc., employees are to be trained in the area of desert tortoise
education. This training will be performed on a regular basis by a qualified biologist for
those personnel not previously trained. The training will include at a minimum the
following: identification of tortoises, burrows, and other sign; and instructions on installing
tortoise barrier fencing. During the course of basic O&M, desert tortoise will be avoided.
Untrained employees shall not perform maintenance operations within the non -Take
areas.
• All trash and food items shall be promptly contained and removed daily from the project
site to reduce the attractiveness of the area to common ravens and other desert tortoise
predators.
• Construction activities which occur between dusk and dawn shall be limited to areas which
have already been cleared of desert tortoises by the Acceptable Biologist and graded or
located in a fenced right-of-way. Construction activities shall not be permitted between
dusk and dawn in areas not previously graded. Active Season Protocol. This protocol
is applicable to pre -construction and construction phases of utility development projects
occurring between February 15 and November 1. It is identical to the Inactive Season
Protocol with the following additions:
• Work areas shall be inspected for desert tortoises within 24 hours of the onset of
construction. To facilitate implementation of this condition, burrow inspection and
excavation may begin no more than seven (7) days in advance of construction activities,
as long as a final check for desert tortoises is conducted at the time of construction.
• All pre -construction activities which could Take tortoises in any manner (e.g., driving off
an established road, clearing vegetation, etc.) shall occur under the overall supervision of
an Acceptable Biologist. Any hazards to tortoises created by this activity, such as drill
holes, open trenches, pits, other excavations, or any steep -sided depressions, shall be
checked three times a day for desert tortoises. These hazards shall be eliminated each
day prior to the work crew leaving the site, which may include installing a barrier that will
preclude entry by tortoises. Open trenches, pits or other excavations will be backfilled
within 72 hours, whenever possible. A 3:1 slope shall be left at the end of every open
trench to allow trapped desert tortoises to escape. Trenches not backfilled within 72 hours
shall have a barrier installed around them to preclude entry by desert tortoises. All
trenches, pits, or other excavations shall be inspected for tortoises by a biological monitor
trained and approved by the Acceptable Biologist prior to filling.
5
Appendix C
• If a desert tortoise is found, the biological monitor shall notify the Acceptable Biologist who
will remove the animal as soon as possible.
• Only burrows within the limits of clearing and surface disturbance shall be excavated.
Burrows outside these limits, but at risk from accidental crushing, shall be protected by
the placement of deterrent barrier fencing between the burrow and the construction area.
The barrier fence shall be at least 20 feet long and shall be installed to direct the tortoise
leaving the burrow away from the construction area. Installation and removal of such
barrier fencing shall be under the direction and supervision of the biological monitor.
• If blasting is necessary for construction, all tortoises shall be removed from burrows within
100 feet of the blast area.
Disposition of Sick, Injured, or Dead Specimens. Upon locating dead, injured, or sick desert
tortoises under any utility or road project, initial notification by the contact representative or
Acceptable Biologist must be made to the USFWS or CDFG within three (3) working days of its
finding. Written notification must be made within five (5) calendar days with the following
information: date; time; location of the carcass; photograph of the carcass; and any other pertinent
information. Care must be taken in handling sick or injured animals to ensure effective treatment
and care. Injured animals shall be taken care of by the Acceptable Biologist or an appropriately
trained veterinarian. Should any treated tortoises survive, USFWS or CDFG should be contacted
regarding the final disposition of the animals.
Fluvial Sand Transport. Activities, including O&M of facilities and construction of permitted new
projects, in fluvial sand transport areas in the Cabazon, Stubbe and Cottonwood Canyons, Snow
Creek/Windy Point, Whitewater Canyon, Whitewater Floodplain, Upper Mission Creek/Big
Morongo Canyon, Mission Creek/Morongo Wash, Willow Hole, Long Canyon, Edom Hill,
Thousand Palms, West Deception Canyon, and Indio Hills/Joshua Tree National Park Linkage
Conservation Areas will be conducted in a manner to maintain the fluvial sand transport capacity
of the system.
Le Conte's Thrasher. This measure does not apply to single-family residences and any non-
commercial accessory uses and structures including but not limited to second units on an existing
legal lot, or to O&M of Covered Activities. In modeled Le Conte's thrasher Habitat in all the
Conservation Areas, during the nesting season, January 15 - June 15, prior to the start of
construction activities, surveys will be conducted by an Acceptable Biologist on the construction
site and within 500 feet of the construction site, or to the property boundary if less than 500 feet.
If nesting Le Conte's thrashers are found, a 500 foot buffer, or to the property boundary if less
than 500 feet, will be established around the nest site. The buffer will be staked and flagged. No
construction will be permitted within the buffer during the breeding season of January 15 - June
15 or until the young have fledged.
Little San Bernardino Mountains Linanthus. This measure does not apply to single-family
residences and any non-commercial accessory uses and structures, including but not limited to
second units on an existing legal lot, or to O&M of Covered Activities. To avoid and minimize
impacts to this species as much as possible, the following avoidance and minimization effort shall
occur:
• Salvage: Salvage of top soil and/or seeds should occur prior to ground disturbance in
accordance with Section 6.6.1. Salvage should be conducted by or in cooperation with the
CVCC.
Mesquite Hummocks and Mesquite Bosque Natural Communities. This measure does not
apply to single-family residences and any non-commercial accessory uses and structures
6
Appendix C
including but not limited to second units on an existing legal lot, or to O&M of Covered Activities.
Construction activities in the Cabazon, Willow Hole, Thousand Palms, Indio Hills Palms, East
Indio Hills, Dos Palmas, Coachella Valley Stormwater Channel and Delta, and Santa Rosa and
San Jacinto Mountains Conservation Areas will avoid mesquite hummocks and mesquite bosque
to the maximum extent Feasible.
Palm Springs Pocket Mouse. To avoid impacts to the Palm Springs pocket mouse and its habitat
in the Upper Mission Creek/Big Morongo Canyon and Willow Hole Conservation Areas, Flood
Control -related construction activities will comply with the following avoidance and minimization
measures.
• Clearing: For construction that would involve disturbance to Palm Springs pocket mouse
habitat, activity should be phased to the extent feasible and practicable so that suitable
habitat islands are no farther than 300 feet apart at any given time to allow pocket mice to
disperse between habitat patches across nonsuitable habitat (i.e., unvegetated and/or
compacted soils). Prior to project construction, a biological monitor familiar with this
species should assist construction crews in planning access routes to avoid impacts to
occupied habitat as much as feasible (i.e., placement of preferred routes on project plans
and incorporation of methods to avoid as much suitable habitat/soil disturbance as
possible). Furthermore, during construction activities, the biological monitor will ensure
that connected, naturally vegetated areas with sandy soils and typical native vegetation
remain intact to the extent feasible and practicable. Finally, construction that involves
clearing of habitat should be avoided during the peak breeding season (approximately
March to May), and activity should be limited as much as possible during the rest of the
breeding season (January to February and June to August).
• Revegetation: Clearing of native vegetation (e.g., creosote, rabbitbrush, burrobush,
cheesebush) should be followed by revegetation, including natural reestablishment and
other means, resulting in habitat types of equal or superior biological value for Palm
Springs pocket mouse.
• Trapping/Holding: All trapping activity should be conducted in accordance with accepted
protocols and by a qualified biologist who possesses a Memorandum of Understanding
with CDFG for live -trapping of heteromyid species in Southern California.
• Translocation: Should translocation between distinct population groups be necessary, as
determined through the Adaptive Management and Monitoring Program, activity should
be conducted by a qualified biologist who possesses a Memorandum of Understanding
with CDFG for live -trapping of heteromyid species in Southern California. Trapping and
subsequent translocation activity should be conducted in accordance with accepted
protocols. Translocation programs should be coordinated by or conducted by the CVCC
and/or RMOC to determine the appropriate trapping, holding, marking, and handling
methods and potential translocation sites.
Peninsular Bighorn Sheep Habitat. Completion of Covered Activities in Peninsular bighorn
sheep Habitat in the Cabazon, Snow Creek/Windy Point, and Santa Rosa and San Jacinto
Mountains Conservation Areas will be conducted outside of the January 1 - June 30 lambing
season unless otherwise authorized through a Minor Amendment to the Plan with concurrence
from the Wildlife Agencies. O&M of Covered Activities, including but not limited to refinishing the
inside of water storage tanks, shall be scheduled to avoid the lambing season, but may extend
into the January 1 — June 30 period if necessary to complete the activity, upon concurrence with
the Wildlife Agencies.
7
Appendix C
For new projects in the above listed Conservation Areas, no toxic or invasive plant species may
be used for landscaping. For existing public infrastructure facilities which have landscaping in
Peninsular bighorn sheep Habitat in the Cabazon, Snow Creek/Windy Point, and Santa Rosa and
San Jacinto Mountains Conservation Areas, the Permittees who have such facilities will, with
respect to those facilities, develop and implement a plan and schedule to remove or prevent
access to oleander and any other plants known to be toxic to Peninsular bighorn sheep. The plan
and schedule will be prepared within one (1) year of Permit issuance.
Triple -ribbed milkvetch. This measure does not apply to single-family residences and any non-
commercial accessory uses and structures including but not limited to second units on an existing
legal lot, or to O&M of Covered Activities. It is understood that O&M for infrastructure developed
as part of a private development approved in compliance with the MSHCP that is later transferred
to a public entity is included as a Covered Activity. For Covered Activities within modeled triple -
ribbed milkvetch Habitat in the Whitewater Canyon, Whitewater Floodplain, Upper Mission
Creek/Big Morongo Canyon, and Santa Rosa and San Jacinto Mountains Conservation Areas,
surveys by an Acceptable Biologist will be required for activities during the growing and flowering
period from February 1 - May 15. Any occurrences of the species will be flagged and public
infrastructure projects shall avoid impacts to the plants to the maximum extent Feasible. In
particular, known occurrences on a map maintained by CVCC shall not be disturbed.
8
Appendix C
4.5 Land Use Adjacency Guidelines
The purpose of Land Use Adjacency Guidelines is to avoid or minimize indirect effects from
Development adjacent to or within the Conservation Areas. Adjacent means sharing a common
boundary with any parcel in a Conservation Area. Such indirect effects are commonly referred to
as edge effects, and may include noise, lighting, drainage, intrusion of people, and the
introduction of non-native plants and non-native predators such as dogs and cats. Edge effects
will also be addressed through reserve management activities such as fencing. The following
Land Use Adjacency Guidelines shall be considered by the Permittees in their review of individual
public and private Development projects adjacent to or within the Conservation Areas to minimize
edge effects, and shall be implemented where applicable.
4.5.1 Drainage
Proposed Development adjacent to or within a Conservation Area shall incorporate plans to
ensure that the quantity and quality of runoff discharged to the adjacent Conservation Area is not
altered in an adverse way when compared with existing conditions. Stormwater systems shall be
designed to prevent the release of toxins, chemicals, petroleum products, exotic plant materials
or other elements that might degrade or harm biological resources or ecosystem processes within
the adjacent Conservation Area.
4.5.2 Toxics
Land uses proposed adjacent to or within a Conservation Area that use chemicals or generate
bioproducts such as manure that are potentially toxic or may adversely affect wildlife and plant
species, Habitat, or water quality shall incorporate measures to ensure that application of such
chemicals does not result in any discharge to the adjacent Conservation Area.
4.5. Lighting
Numerous studies have shown artificial light to negatively impact a variety of wildlife species (see,
for example, Ecological consequences of artificial night lighting 2006, Rich, C. and Longcore, T.
(eds.). Island Press: Washington, D.C.). The purpose of this guideline is to minimize the impact
of artificial light on wildlife within Conservation Areas. For proposed Development adjacent to or
within a Conservation Area, lighting shall be shielded and directed toward the developed area.
Landscape shielding or other appropriate methods shall be incorporated in project designs to
minimize the effects of lighting adjacent to or within the adjacent Conservation Area. Projects
requiring discretionary approval shall provide the permitting jurisdiction with a light study showing
the proposed methods to minimize escape of light from the project into Conservation Areas. This
study shall include all exterior lighting including street lights and security lighting.
4.5.4 Noise
Noise has been shown to negatively impact numerous species of wildlife (see, for example,
Bowles, A.E. 1995. Responses of wildlife to noise. pp. 109-156. In: Knight, R.L. and K.J.
Gutzwiller. (eds.) Wildlife and Recreationists: Coexistence through Management and Research.
Island Press: Washington, D.C.). The purpose of this guideline is to minimize the impact the
noise on wildlife within Conservation Areas. Proposed Development adjacent to or within a
Conservation Area that generates noise in excess of 75 dBA Leq hourly, as measured at the
property line, shall incorporate setbacks, berms, or walls, as appropriate, to minimize the effects
9
Appendix C
of noise on the adjacent Conservation Area. Required Measures in any Conservation Area that
preclude or limit berms or walls shall have precedence over this guideline. This guideline is
intended to apply to land uses that generate noise on a permanent basis such as race tracks,
night clubs and shooting ranges and does not apply to temporary noise due to construction or
special events. Public safety activities are exempt from this guideline.
4.5.5 Invasives
Invasive species are a known threat to native wildlife and wildlife habitat in the Coachella Valley.
Impacts of invasive species on wildlife in the Coachella Valley have been documented in research
conducted by the Center for Conservation Biology at the University of California, Riverside.
Invasive, non-native plant species shall not be incorporated in the landscape for land uses
adjacent to or within a Conservation Area. Landscape treatments within or adjacent to a
Conservation Area shall incorporate native plant materials to the maximum extent Feasible;
recommended native species are listed in Table 4-112. The plants listed in Table 4-113 shall not
be used within or adjacent to a Conservation Area. This list may be amended from time to time
through a Minor Amendment with Wildlife Agencies' concurrence.
4.5.6 Barriers
Land uses adjacent to or within a Conservation Area shall incorporate barriers in individual project
designs to minimize unauthorized public access, domestic animal predation, illegal trespass, or
dumping in a Conservation Area. Such barriers may include native landscaping, rocks/boulders,
fencing, walls and/or signage.
4.5.7 Grading/Land Development
Manufactured slopes associated with site Development shall not extend into adjacent land in a
Conservation Area.
10
Appendix C
Table 4-112: Coachella Valley Native Plants Recommended for Landscaping'
BOTANICAL NAME
COMMON NAME
Trees
Washingtonia filifera
California Fan Palm
Cercidium floridum
Blue Palo Verde
Chilopsis linearis
Desert Willow
Olneya tesota
Ironwood Tree
Prosopis glandulosa var. torreyana
Honey Mesquite
Shrubs
Acacia greggii
Cat's Claw Acacia
Ambrosia dumosa
Burro Bush
Atriplex canescens
Four Wing Saltbush
Atriplex lentiformis
Quailbush
Atriplex polycarpa
Cattle Spinach
Baccharis sergiloides
Squaw Water -weed
Bebia juncea
Sweet Bush
Cassia (Senna) covesii
Desert Senna
Condalia parryi
Crucilllo
Crossosoma bigelovii
Crossosoma
Dalea emoryi
Dye Weed
Dalea (Psorothamnus) schottii
Indigo Bush
Datura meteloides
Jimson Weed
Encelia farinosa
Brittle Bush
Ephedra aspera
Mormon Tea
Eriogonum fasciculatum
California Buckwheat
Eriogonum wrightii membranaceum
Wright's Buckwheat
Fagonia laevis
(No Common Name)
Gutierrezia sarothrae
Matchweed
Haplopappus acradenius
Goldenbush
Hibiscus denudatus
Desert Hibiscus
Hoffmannseggia microphylla
Rush Pea
Hymenoclea salsola
Cheesebush
Hyptis emoryi
Desert Lavender
Isomeris arborea
Bladder Pod
Juniperus californica
California Juniper
Krameria grayi
Ratany
Krameria parvifolia
Little -leaved Ratany
Larrea tridentate
Creosote Bush
Lotus rigidus
Desert Rock Pea
Lycium andersonii
Box Thorn
Petalonyx linearis
Long -leaved Sandpaper Plant
Petalonyx thurberi
Sandpaper Plant
Peucephyllum schottii
Pygmy Cedar
Prunus fremontii
Desert Apricot
Rhus ovata
Sugar -bush
Salazaria mexicana
Paper -bag Bush
Salvia apiana
White Sage
Salvia eremostachya
Santa Rosa Sage
Salvia vaseyi
Wand Sage
Simmondsia chinensis
Jojoba
11
Appendix C
BOTANICAL NAME
COMMON NAME
Sphaeralcia ambigua
Globemallow (Desert Mallow)
Sphaeralcia ambigua rosacea
Apricot Mallow
Trixis californica
Trixis
Zauschneria californica
California Fuchsia
Groundcovers
Mirabilis bigelovii
Wishbone Bush (Four O'Clock)
Mirabilis tenuiloba
White Four O'Clock (Thin -lobed)
Vines
Vitis girdiana
Desert Grape
Accent
Muhlenbergia rigens
Deer Grass
Herbaceous Perennials2
Adiantum capillus -veneris
Maiden -hair Fern (w)
Carex alma
Sedge (w)
Dalea parryi
Parry Dalea
Eleocharis montevidensis
Spike Rush (w)
Equisetum laevigatum
Horsetail (w)
Juncus bufonis
Toad Rush (w)
Juncus effuses
Juncus (w)
Juncus macrophyllus
Juncus (w)
Juncus mexicanus
Mexican Rush (w)
Juncus xiphioides
Juncus (w)
Notholaena parryi
Parry Cloak Fern
Pallaea mucronata
Bird -foot Fern
Cacti and Succulents
Agave deserti
Desert Agave
Asclepias albicans
Desert Milkweed (Buggy -whip)
Asclepias subulata
Ajamete
Dudleya arizonica
Live -forever
Dudleya saxosa
Rock Dudleya
Echinocereus engelmannii
Calico Hedgehog Cactus
Ferocactus acanthodes
Barrel Cactus
Fouquieria splendens
Ocotillo
Mamillaria dioica
Nipple Cactus
Mamillaria tetrancistra
Corkseed Cactus
Nolina parryi
Parry Nolina
Opuntia acanthocarpa
Stag-horn or Deer -horn Cholla
Opuntia bigelovii
Teddy Bear or Jumping Cholla
Opuntia basilaris
Beavertail Cactus
Opuntia echinocarpa
Silver or Golden Cholla
Opuntia ramosissima
Pencil Cholla, Darning Needle Cholla
Yucca schidigera
Mojave Yucca, Spanish Dagger
Yucca whipplei
Our Lord's Candle
Source: "Coachella Valley Native Plants, Excluding Annuals (0 ft. to approximately 3,000 ft. elevation)." Compiled by Dave
Heveron, Garden Collections Manager, and Kirk Anderson, Horticulturist, The Living Desert, May, 2000, for the Coachella
Valley Mountains Conservancy.
2 Common names for herbaceous perennials that are followed by "(w)" indicate a water or riparian species.
12
Appendix C
Table 4-113: Prohibited Invasive Ornamental Plants'
BOTANICAL NAME
COMMON NAME
Acacia spp. (all species except A. greggii)
Acacia (all species except native catclaw
acacia)
Arundo donax (✓)
Giant Reed or Arundo Grass
Atriplex semibaccata (✓)
Australian Saltbush
Avena barbata
Slender Wild Oat
Avena fatua
Wild Oat
Brassica tournefortii (✓✓)
African or Saharan Mustard
Bromus madritensis ssp. rubens (✓)
Red Brome
Bromus tectorum (✓✓)
Cheat Grass or Downy Brome
Cortaderia jubata [syn. C. atacamensis]
Jubata Grass or Andean Pampas Grass
Cortaderia dioica [syn. C. selloana]
Pampas Grass
Descurainia sophia
Tansy Mustard
Eichhornia crassipes
Water Hyacinth
Elaegnus angustifolia
Russian Olive
Foeniculum vulgare
Sweet Fennel
Hirschfeldia incana
Mediterranean or Short -pod Mustard
Lepidium latifolium
Perennial Pepperweed
Lolium multiflorum
Italian Ryegrass
Nerium oleander
Oleander
Nicotiana glauca (.1
Tree Tobacco
Oenothera berlandieri (#)
Mexican Evening Primrose
Olea europea
European Olive Tree
Parkinsonia aculeata (V)
Mexican Palo Verde
Pennisetum clandestinum
Kikuyu Grass
Pennisetum setaceum (✓/)
Fountain Grass
Phoenix canariensis (#)
Canary Island Date Palm
Phoenix dactylifera (#)
Date Palm
Ricinus communis (.1
Castorbean
Salsola tragus V)
Russian Thistle
Schinus molle
Peruvian Pepper Tree or California Pepper
Schinus terebinthifolius
Brazilian Pepper Tree
Schismus arabicus
Mediterranean Grass
Schismus barbatus (✓/)
Saharan Grass, Abu Mashi
Stipa capensis (✓✓)
No Common Name
Tamarix spp. (all species) (✓✓)
Tamarisk or Salt Cedar
Taeniatherum caput -medusae
Medusa -head
Tribulus terrestris
Puncturevine
Vinca major
Periwinkle
Washingtonia robusta
Mexican fan palm
Yucca gloriosa (#)
Spanish Dagger
' Sources: California Exotic Pest Plant Council, United States Department of Agriculture -Division of Plant Health and Pest
Prevention Services, California Native Plant Society, Fremontia Vol. 26 No. 4, October 1998, The Jepson Manual; Higher
Plants of California, and County of San Diego Department of Agriculture.
Key to Table 4-113:
# indicates species not on CaIEPPC October 1999 "Exotic Pest Plants of Greatest Ecological Concern
in California" list
✓ indicates species known to be invasive in the Plan Area
✓✓ indicates particularly troublesome invasive species
13
CVCC
Coachella Valley Conservation Commission
Joint Project Review Application
The 30 -day Joint Project Review (JPR) timeline does not start until the CVCC receives
this completed application as well as the required project information from the Permittee.
Date:
Permittee Name (Jurisdiction): City of La Quinta
SECTION 1: PROJECT APPLICANT
A. Project Applicant Name(s)/Applicant's Representative: Mark Rogers
TRG Land, Inc
Mailing Address: 898 Production Place
Newport Beach
Street
CA 92663
City State ZIP
Daytime Phone No: 949.722.0634 Fax No:
E-mail: MRogers@trgland.com
PROPERTY OWNER INFORMATION:
B. Assessor's Parcel Number(s) (APNs): 766-110-003, -004, -005,-007, and -009;
Property Owner Name(s)/Owner's Representative: Louis M1ramontes
Hofmann Land Development Company LLC
Mailing Address: P.O. Box 907
Concord,
Street
CA 94522
City State ZIP
Daytime Phone No: 925.588.7388 Fax No:
E-mail: Imiramontes@khhtrust.com
Coachella Valley Conservation Commission
73-710 Fred Waring Drive, Suite 200, Palm Desert, CA 92260 Phone: (760) 346-1127 Fax: (760) 340-5949
Page 1 of 3
/4"r
SECTION 2: PROJECT DESCRIPTION
Total Acres of Project Site: 855.4 acres
Total Acres Planned for Development: 536.1 acres
Total Acres Planned for Permanent Conservation: 301.2 acres
Project Description:
Please provide as complete a description of the project as possible, including proposed
development, areas of disturbance, conservation, mitigation areas, restoration, and any
offsite improvements. If you need additional space, please submit your complete
project description as a Wordfle.
see attached word file
• Attach an electronic file of the area of Disturbance in CAD or ESRI Shapefile
format (applications for a single-family dwelling are not required to submit
electronic file)
• Attach map(s) as necessary to depict the project location.
• Attach copies of a map delineating:
o the areas of proposed disturbance on the project site.
o areas on the project site proposed to be left undisturbed
a areas of proposed permanent conservation on the project site
The disturbed area is any portion of the earth's surface or natural vegetation that has been
physically moved, uncovered, destabilized, or otherwise modified from its undisturbed
natural condition pursuant to a legally issued land use, grading or building petniit. This
definition does not include land that has been restored to a native condition, such that the
vegetative ground cover and soil characteristics are equal to surrounding conditions.
Examples of disturbance include but are not limited to: staging areas, areas of side
casting, slough, stockpiling, and spillage or otherwise impacted in preparing the property
for development; areas to be disturbed in installing septic tanks and leach fields including
the expansion area for leach fields; and any off-site improvements such as roads or
sewers required as a condition of approval.
Permanent conservation is an undeveloped portion of a parcel that is legally described
and permanently protected through an appropriate Legal Instrument that allows long-term
monitoring and management in perpetuity.
Coachella Valley Conservation Commission
73-710 Fred Waring Drive, Suite 200, Palm Desert, CA 92260 Phone: (760) 346-1127 Fax: (760) 340-5949
Page 2 of 3
SECTION 3
AUTHORITY FOR THIS APPLICATION IS HERESY GIVEN:
I certify that I am/we are the record owner(s) or authorized agent and that the information
filed is true and correct to the best of my knowledge. An authorized agent must submit a
letter from the owner(s) indicating authority to sign the application on the owner's behalf.
As the owner of record/authorized agent, I hereby authorize the information to be
released to Property Owner(s)/Owner's Representative/authorized agent.
Please submit a scanned PDF of your signed application with all project documentation.
Louis Miramontes
1
PRINTED NAME OF PROPERTY OWNER SIGNATURE OF PROPERTY OWNER
Mark Rogers
PRINTED NAME OF PROPERTY OWNER SI
REPRESENTATIVE
OF PROPERTY O NER
REPRESENTATIVE
If the subject property is owned by persons who have not signed as owners above, attach
a separate sheet that references the application case number and lists the printed names
and signatures of all persons having an interest in the property.
Coachella Valley Conservation Commission
73-710 Fred Waring Drive, Suite 200, Palm Desert, CA 92260 Phone: (760) 346-1127 Fax: (760) 340-5949
Page 3 of 3
.,,,„ 44,
1.,,,,,,
COACHELLA VALLEY CONSERVATION COMMISSION CVCC
Cathedral City ° Coachella ° Desert Hot Springs ° Indian Wells ° Indio ° La Quinta ° Palm Desert
° Palm Springs ° Rancho Mirage ° County of Riverside ° Coachella Valley Water District ° Imperial Irrigation District
31 March 2021
Cheri Flores
Planning Manager
City of La Quinta
78495 Calle Tampico
La Quinta, CA 92253
760.777.7067
RE: Final Joint Project Review for CVCC 20-006 Travertine development project
Dear Ms. Flores:
The Coachella Valley Conservation Commission (CVCC) has completed its Joint Project Review
(JPR) as required by section 6.6.1.1 of the Coachella Valley Multiple Species Habitat
Conservation Plan (CVMSHCP) for the Travertine development project proposed by TRG Land,
Inc.
The project is located partially within the Santa Rosa and San Jacinto Conservation Area and
proposes an 855 -acre mixed use development to include low and medium density residential
housing, hospitality and commercial services, and recreation, open space, and natural areas. The
project will impact 6.5 acres with the conservation area, but does not overlap with any modeled
habitat. A further 2.25 acres of disturbance within the Conservation Area will occur on land owned
by the Bureau of Land Management, who is not a permittee under the CVMSHCP and is therefore
not reviewed in this report.
The Santa Rosa and San Jacinto Conservation Area contains Essential Habitat for Peninsular
bighorn sheep, a species fully protected by the State of California. A separate Biological Opinion
provided by the United States Fish and Wildlife Service covers federal permitting for that species,
but neither that document nor this JPR allow for the take of any individual. The Conservation Area
also contains habitat for desert tortoise and Le Conte's thrasher.
A draft JPR was submitted to the US Fish and Wildlife Service, California Department of Fish and
Wildlife, and the project applicant on 2 February 2021. Agency comments, and any response, are
summarized in the JPR and included in full as an Appendix.
This JPR has found the project as proposed consistent with the CVMSHCP if conditioned on the
implementation of required Avoidance and Minimization Measures and applicable Land Use
Adjacency guidelines as described in the Plan documents. The Travertine project also has
specific financial requirements that must be met prior to its implementation, furhter described in
Plan documents.
.,,,„ 44,
1.,,,,,,
COACHELLA VALLEY CONSERVATION COMMISSION CVCC
Cathedral City ° Coachella ° Desert Hot Springs ° Indian Wells ° Indio ° La Quinta ° Palm Desert
° Palm Springs ° Rancho Mirage ° County of Riverside ° Coachella Valley Water District ° Imperial Irrigation District
If you have any questions, please do not hesitate to contact me at psatin@cvag.org, or
760.346.1127.
Sincerely,
t
Peter Satin
Regional Planner
CC: Carly Beck, CDFW
Jacob Skaggs, CDFW
Heather Pert, CDFW
Alicia Thomas, USFWS
Jenness McBride, USFWS
Mark Rogers, TRG Land, Inc
Attachments:
JPR 20-006: Travertine
Appendix A: Applicant project description
Appendix B: Agency comments
Appendix C: Avoidance, Minimization, and Mitigation Measures and Land Use Adjacency
Guidelines
JPR Application
Coachella Valley Conservation Commission
Draft Joint Project Review
Submitted 31 March 2021
Project Summary
4a.)--
1 —
CVCC
Applicant
TRG Land, Inc
CVCC ID
20-006
Permittee(s)
City of La Quinta
APN
753040014, 753040016, 753040017, 753050007,
753050013,
753050029, 753060003, 753070005, 753080003,
753080005,
753080006, 764280057, 764280059, 764280061,
766110002,
766110003, 766110004, 766110005, 766110007,
766110009,
766120001, 766120002, 766120003, 766120006,
766120015,
766120016, 766120018, 766120021, 766120023
Total Acreage
855.4 acres
Conservation Area
Santa Rosa and San Jacinto Mountains
Conservation Area
6.5 acres
Disturbance Acreage
Introduction
The Coachella Valley Conservation Commission (CVCC) is a joint powers authority tasked with
overseeing the implementation of the Coachella Valley Multiple Species Habitat Conservation Plan
(CVMSHCP or Plan). Among other responsibilities, CVCC is tasked with conducting the Joint Project
Review (JPR) process as defined in section 6.6.1.1 of the Plan for any potential development taking place
in a Conservation Area that may impact Conservation Objectives. The JPR process allows CVCC to
facilitate and monitor the implementation of the CVMSHCP and to assist Local Permittees in meeting the
Conservation Goals and Objectives of the Plan. The intention of this JPR document is to inform
Permittee(s) whether a proposed development project complies with Plan requirements, and in no way
limits their land use authority.
The JPR process is designed to streamline appropriate development projects while maintaining adequate
time for regulatory review. Within 30 days of receipt of project information from a Local Permittee, CVCC
will conduct a geospatial analysis of how the project may impact Conservation Area Conservation
Objectives and Required Measures as described in section 4.3, rough step parameters as described in
section 6.5, and Covered Species Goals and Objectives as described in section 9. CVCC will prepare
their findings for comment and submit them to the Local Permittee, the project applicant, and the United
States Fish and Wildlife Service (USFWS) and California Department of Fish and Wildlife (CDFW)
(collectively, Wildlife Agencies). The Wildlife Agencies will provide any comments to CVCC within 30
days, after which CVCC will finalize its recommendation regarding project compliance and submit to the
Local Permittee. Additional consultation between CVCC, the project applicant, and the Local Permittee
may be required if inconsistencies with Plan requirements are identified.
1
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Figure 1: Project location with the Coachella Valley.
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Disclaimer: Maps and data are to be used far reference
purposes only. Map features are approximate, and are not
necessarily accurate to surveying a engineering standards.
CVCC, the appl ica nt, and the County of Riverside mace no warranty
a guarantee as to the content (the source is often thid partyj,
accuracy, timeliness, a completeness of any of the data provided,
and as s u mer no legal res pons i bility fa the i nfamation caritai ned on
this map. Any use of this product with respect to accuraut and
Recision shall be the sole respansibility d the user.
2
Project Description
The proposed Travertine project (Project) is located primarily within the boundaries of the City of La
Quinta and will impact land within the Santa Rosa and San Jacinto Mountains Conservation Area
(SRSJM) (Figure 1). A small portion of the project will impact land owned by the Bureau of Land
Management (BLM) within SRSJM (Figure 2); however, because the BLM is not a signatory to the
CVMSHCP and BLM land is not covered, that portion will not be reviewed here. The Project proposes an
855 -acre mixed use development to include low and medium density residential housing, hospitality and
commercial services, and recreation, open space, and natural areas. A full project description provided
by the applicant is included as Appendix A.
The proposed Project warrants special consideration under the CVMSHCP. Prior to the approval of state
and federal permits for the Plan, the Project had initiated Section 7 consultations with USFWS. As
detailed in section 4.3.21 of the CVMSHCP under Required Measures for the SRSJM Conservation Area,
any species issued permits through the USFWS Biological Opinion for this Project would not require take
authorization through the Plan. Any conservation measures listed for those species would not apply
unless incorporated into the Biological Opinion. For those Covered Species not included in the Biological
Opinion, the Project constitutes a Covered Activity governed by special provisions.
Project Impacts and Proposed Conservation Measures
The impacts subject to this review involve the construction of two water tanks and associated
infrastructure resulting in disturbance of 6.51 acres of land within SRSJM (Figure 2). No additional areas
for fuel modification zones are anticipated for the development. As noted in the findings section of this
report, this 6.5 acres of disturbance does not impact the conservation objectives for Peninsular bighorn
sheep, desert tortoise, or Le Conte's thrasher. The proposed trail plan for Travertine has been revised in
consultation with the CVCC to relocate trail routes to avoid entry into the Conservation Area. As depicted
in Figure 2, portions of the trail now abut the Conservation Area, but the trail does not enter into it. With
this change, the trail plan is no longer subject to the JPR process.
As required by the Biological Opinion, the Project applicant will permanently conserve through deed
restriction 294.75 acres of on-site property, with 147.75 acres occurring within SRSJM. An additional
10.75 acres of off-site conservation also falls within the Conservation Area. Since this is required
mitigation acreage, it cannot be counted toward the Conservation Objectives of the Plan.
The Biological Opinion further requires a fencing contingency plan to be drafted by the applicant and for
fencing easements to be granted to the appropriate agency along the outermost perimeter of the project.
This conservation measure supersedes required measure 11 of section 4.3.21 of the CVMSHCP
describing similar actions.
The portion of the project on BLM land and not subject to this review is projected to disturb 2.25 acres.
All disturbance acreages were determined independently by CVCC staff using impact data provided by
the applicant and controlling for acreage previously considered disturbed.
1 All acreages are rounded to the nearest quarter -acre.
3
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5, ..nor
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Conservation Area boundary Bureau of Land Management
1.._.._i City of La Quinta boundary
Project footprint
Navel Project disturbance
Figure 2: Project footprint and surrounding land status.
Bureau of Indian Affairs
Bureau ofReclamat' on
State of California
N
Disclaimer: Maps and data are to be used for reference
purposes only. Map features are approximate, and are not
necessarily accurate to surveying or engineering standards.
CVCC, theapplicant, and the County of Riverside mace no warranty
guarantee as to the content {the source is often thid partyj,
accuracy,, timeliness, or completeness of any of the data provided.
and assumes no legal l'iponsibility far theinformation contained on
this map Any use of this product with respect to accuracy and
pression shall be the sole responsibility d the user.
4
Conservation Assessment
Santa Rosa and San Jacinto Mountains Conservation Area
The primary conservation focus of SRSJM is to protect essential habitat for Peninsular bighorn sheep.
This Conservation Area also provides potential habitat for gray vireo and desert tortoise, although
respective occupation and population densities for these species is not well known. It also provides
migration and breeding habitat for many of the Plan's riparian species, and natural communities including
desert fan palm oases. Of note, SRSJM contains at least one occurrence of triple -ribbed milkvetch that
appears to be disjunct from other known occurrences within the CVMSHCP and numerous recorded
burrowing owl locations. Small amounts of Other Conserved Habitat (OCH) for Coachella Valley
milkvetch, Coachella Valley giant sand -treader cricket, Coachella Valley Jerusalem cricket, Coachella
Valley fringe -toed lizard, flat -tailed horned lizard, Le Conte's thrasher, Coachella Valley round -tailed
ground squirrel, and Palm Springs pocket mouse are also found in SRSJM. Hydrological processes
necessary for the maintenance of desert dry wash, desert fan palm oases, and other riparian habitats are
considered Essential Ecological Processes for the Conservation Area.
Conservation Objectives for SRSJM include the conservation of essential habitat for Peninsular bighorn
sheep, the conservation of known and potential habitat for gray vireo, the conservation of OCH for Le
Conte's thrasher and desert tortoise, and the conservation of occupied burrowing owl burrows. Natural
communities prioritized for conservation include southern willow arroyo riparian forest, desert fan palm
oasis woodland, and semi desert chaparral. Conservation Objectives are detailed more fully in section
4.3.21 of the Plan. Conservation and take authorization specific to the City of La Quinta pertain to OCH
for Le Conte's thrasher and desert tortoise, essential habitat for Peninsular bighorn sheep, and desert
dry wash woodland.
Note that Peninsular bighorn sheep are fully protected by the State of California, meaning that no
individual may be taken or possessed at any time, and that no licenses or permits may be issued for their
take. Only take of habitat is permitted through the Plan and Biological Opinion.
USFWS 2005 Biological Opinion
The Project applicant initiated a Section 7 consultation with USFWS in 2004, which was finalized in 2005.
USFWS was concerned about impacts to triple -ribbed milkvetch, desert tortoise, and Peninsular bighorn
sheep. Following expert review, field surveys, and Project reconfiguration, USFWS determined that
milkvetch and desert tortoise were unlikely to be affected, and the resulting Biological Opinion applies
exclusively to Peninsular bighorn sheep. In accordance with the special provisions discussed above, the
Project applicant will not require federal take authorization through the Plan for bighorn sheep habitat.
In light of the 2005 Biological Opinion providing take for Peninsular bighorn sheep habitat, this report
applies only to federal take authorizations for OCH for Le Conte's thrasher and desert tortoise, and state
take authorizations for essential habitat for Peninsular bighorn sheep, OCH for Le Conte's thrasher and
desert tortoise, and desert dry wash woodland.
Findings
Geospatial analysis of the disturbance footprint subject to review determined that the Project would have
no detrimental impact on modeled essential habitat for Peninsular bighorn sheep, modeled OCH for Le
Conte's thrasher and desert tortoise, or modeled desert dry wash woodland (Table 1). A small, 0.5 -acre
5
portion of the impact from the water tanks intersects some of the modeled habitat for each of the above,
but after reviewing County of Riverside parcel data and consulting with the Project applicant, this overlap
is believed to be the result of a mapping error (Figure 3).
Rough Step Analysis
The rough step analysis, as described in section 6.5 of the CVMSHCP, is used to determine whether a
proposed disturbance would have an outsized negative impact on the availability of conservation land
within a given Conservation Area for a specific Conservation Objective. It is meant to ensure that the
potential conservation opportunities remain in "rough step" with the projected development. A positive
rough step calculation indicates a surplus of allowable disturbance acreage for a particular Conservation
Objective, while a negative rough step calculation signifies that the target habitat is being overdeveloped
by the resulting acreage. In such an instance, the planned disturbance would be outside the parameters
of the Plan and conservation actions must take place prior to the authorization of additional habitat
disturbance.
The Project as proposed maintains a positive rough step balance for each of the relevant Conservation
Objectives (Table 1).
Table 1: Project impacts per Conservation Objective for the City of La Quinta.
Conservation Objective
G
U (pca
CNU M .0 OU "0 N
N� (
N U) b�,,
o 0 a)
o z 0) Q) O) a C)
0 r c Q Q L. O Q 0
Le Conte's thrasher — Other Conserved Habitat 0 43 15.75 0 387
Desert tortoise — Other Conserved Habitat 0 157 57.25 0 1409
Peninsular bighorn sheep — Essential Habitat (R3) 0 159 40 0 2545
Desert dry wash 0 8 2.25 0 76
'The proposed Project disturbance after subtracting existing disturbance.
2The maximum amount of disturbance allowed to be consistent with Plan requirements for the Project area.
3Rough step is calculated based on all development and conservation from 1996 to present.
4Acres of land within Conservation Area conserved by applicant.
5Target conservation acres as proposed by the Plan.
Agency Comments
A draft version of this report was submitted to the Wildlife Agencies for comment on 2 February 2021,
and CVCC received a joint comment letter on 4 March 2021. Agency comments are summarized below
and included in full in Appendix B.
Comments focused on the design of the proposed nature trail as well as design of and operations and
maintenance activities for the water tanks. Agencies further requested an updated work plan to determine
if provisions required in the Biological Opinion had been incorporated. Finally, the Wildlife Agencies
requested the addition of language pertaining to the protected status of the Peninsular bighorn sheep
and a revised trail map. Relevant comments have been incorporated into this report.
6
Conclusions
This report has found the Project as proposed consistent with the CVMSHCP, notwithstanding those
elements covered by the 2005 USFWS Biological Opinion. Projected impacts to Essential Habitat for
Peninsular bighorn sheep, Other Conserved Habitat for Le Conte's thrasher and desert tortoise, and
desert dry wash woodland are all within authorized limits for the City of La Quinta. Rough step analysis
for each of the Conservation Objectives yields a positive result, indicating development has not outpaced
conservation for the City within SRSJM. This finding assumes the Project applicant will implement all
required Avoidance, Minimization, and Mitigation measures (AMMs) and Land Use Adjacency
Guidelines. If, during a subsequent project review, it is identified that the Project has failed to implement
these practices, or if the disturbance footprint has changed substantially from that reviewed here, this
consistency finding shall be rendered null and void.
Project approval by the Local Permittee shall be conditioned on the incorporation of all pertinent AMMs
and Land Use Adjacency Guidelines as described in sections 4.4 and 4.5 of the Plan and included here
as Appendix C. Special consideration should be given to AMMs for burrowing owl, desert tortoise, Le
Conte's thrasher, and Peninsular bighorn sheep habitat. Special consideration should also be given the
Land Use Adjacency Guidelines as detailed in 4.5.3 and 4.5.6: lighting should be directed downward and
away from the Conservation Area, and trails should include features to deter users from entering into the
Conservation Area, as unauthorized trail development into bighorn sheep habitat is prohibited under the
Plan. Approval shall further be contingent on the applicant's fulfilment of the financial responsibilities
identified in item 2.e of the required measures for SRSJM in section 4.3.21.
As discussed above, this JPR has not identified any impacts to the modeled habitat for covered species,
natural communities, or essential ecological processes protected by the Plan. Nonetheless, CVCC
encourages the applicant to restore any temporary disturbance resulting from the construction of the
water tanks and access road, and to ensure that any operation and maintenance activities minimize
disturbance to surrounding wildlife resources. CVCC further encourages the City and the applicant to
consider design features that minimize edge effects for Peninsular bighorn sheep, especially in regard to
the water tanks and nature trail. CVCC recommends limiting trail use to daylight hours only. CVCC has
developed informational signs for use on trails that pass through bighorn sheep habitat that can be shared
with the applicant.
7
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Disclaim s•: Maps and data are to be used for reference
purposes anly. Map features are approximate, and are not
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CVCC, the applicant, and the County of Riverside Inde no warranty
or guarantee as to the content the source is often th'rd party},
accuracy. timeliness, or completeness of any of the data provided,
and assumes no legal responsibility for the information contained an
this map Any use of the product with respect to accuracy and
Recision shall be the sole responsibility d the user.
8
TRAVERTINE PROJECT
Coachella Valley Conservation Commission
December 3, 2020
TRAVERTINE PROJECT
Page 2 of 30
TRAVERTINE PROJECT
Tables of Contents
Exhibit 1 - Regional Location Map 4
Exhibit 2 - Vicinity Map 5
Exhibit 3 — Site Location Map 6
1. PROPOSED PROJECT 7
1.1 Project Objectives 7
1.2 Project History 8
Exhibit 4 — City of La Quinta — Existing General Plan / 1999 Specific Plan 12
Exhibit 5 — Proposed General Plan Land Use 13
1.3 Project Description 14
Table 2: Proposed Planning Area Summary 15
1.3.1 Residential Planning Areas 16
Exhibit 6 — Planning Area Land Use Plan 17
1.3.2 Tourist Serving Recreational Facilities 18
Table 3: Proposed Uses and Amenities for Resort/Golf Planning Areas 18
1.3.3 Open Space/Recreation Planning Areas 18
1.3.4 Open Space/Natural Planning Areas 18
1.3.5 Recreational Amenities 20
Exhibit 7 — Recreation Plan 21
1.3.6 Master Planned Roads 22
Exhibit 8 — Circulation Plan 23
1.3.7 Infrastructure 24
Exhibit 9 — Grading Plan 25
Exhibit 10 — Conceptual Hydrology 26
Exhibit 11 —Conceptual Water Plan 28
Exhibit 12 —Conceptual Sewer Plan 30
Page 3 of 30
TRAVERTINE PROJECT
Exhibit 1 - Regional Location Map
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Page 4 of 30
TRAVERTINE PROJECT
Exhibit 2 - Vicinity Map
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Page 5 of 30
TRAVERTINE PROJECT
Exhibit 3 — Site Location Map
LEGEND
--+I
5
Section Lines*
Section Line Numbers
Project Boundary
1 City of La Quinta Boundary
'I he Public Land Surrey System (PLssj
Section—ore-square-mile block of lana cortaining 642 acres. orapproxlmelely
one fnlrly-sixth of s township. Due to the ouvalure of the Earth, seotlons may
...orally be slightly smaller than ore square mile
From 0522 7 5 Inlnute Sumas Martinez Mountain Quadrangle. CH 2015
Page 6 of 30
TRAVERTINE PROJECT
1. PROPOSED PROJECT
1.1 Project Objectives
The Travertine Specific Plan serves as an overall framework to conscientiously guide
development of the proposed project. To ensure the functional integrity, economic viability,
environmental sensitivity, and positive aesthetic impact of this Specific Plan, planning and
development goals for the project were established and supported through an extensive analysis. This
analysis includes an examination of project environmental constraints, engineering feasibility, market
acceptance, economic viability, City General Plan goals, development phasing, and local community
goals.
The Travertine Specific Plan has identified the following Project objectives:
• To enhance the existing trail system by adding a staging and parking area and access from
the proposed extension of Jefferson.
• Provide an interpretive trail element that circumnavigates the project and identifies the
unique features both historical and current within the project setting.
• To focus the activities for the community on walking and hiking as well as providing a major
recreational facility along the eastern edge of the project.
• The primary goal of the Amendment is to reduce the overall intensity of the 1995 approved
Specific Plan.
• Establish a distinctive community character through place -making elements that embrace
and respect the site's special physical attributes, as well as authentic architecture that reflects
local heritage.
• Provide a comprehensive system of parks and recreation facilities and services that meet the
active and passive needs of all residents and visitors.
• Contribute to the preservation, conservation and management of open space lands and scenic
resources for enhanced recreational, environmental and economic purposes.
• Provide protection of the health, safety, and welfare of the community from flooding and
hydrological hazards.
The following Project objectives have been identified for the EIR:
• To contribute to the reduction of air emissions generated within the City.
• Provide a regulatory framework that facilitates and encourages energy and water
conservation through sustainable site planning, project design, and green technologies and
building materials.
Page 7 of 30
TRAVERTINE PROJECT
• Assist in the protection and preservation of native and environmentally significant biological
resources and their habitats.
• Assist in the protection and preservation of cultural resources.
• Contribute to the preservation, conservation and management of the City's open space lands
and scenic resources for enhanced recreation, environmental and economic purposes.
• Provide protection of the residents' health and safety, and of their property, from geologic
and seismic hazards.
• Provide protection of the health and safety, and welfare of the community from flooding and
hydrological hazards.
• Provide protection of residents from the potential impacts of hazardous and toxic materials.
• Provide a healthful noise environment which complements the City's residential and
Resort/Spa character.
• Provide housing opportunities that meet the diverse needs of the City's existing and
projected population.
• Provide public facilities and services that are available, adequate and convenient to all City
residents.
• Provide a circulation system that promotes and enhances transit, alternative vehicle, bicycle
and pedestrian systems.
• Provide domestic water, sewer and flood control infrastructure and services which
adequately serve the project development and the existing and long-term needs of the City.
1.2 Project History
The project site is located on an alluvial fan emanating from the Santa Rosa Mountains in the
southeast portion of the City of La Quinta. The only known land use of the site can be seen in an area
near the center of the site, see Exhibit 3; this area was used as a vineyard that included, grape vines,
irrigation lines, access roads. The vineyard is no longer active and appears to have ceased operation
sometime in 2005-2006.
In 1988-1989 the project site was part of a proposed land exchange, the Toro Canyon Land Exchange,
between the Bureau of Land Management (BLM) and the Nature Conservancy, to dispose of public
lands that would be more suitable for development in exchange for private land further to the south
that provides important habitat for Bighorn Sheep. An EA was prepared for the land exchange. The
EA concluded that the private land offered in the exchange would now be protected as federal
resources in support of Bighorn Sheep and critical habitat. Also, as part of the land exchange, the
Travertine project site would be available for development in accordance with the land use planning
designations imposed by the City of La Quinta. The exchange consisted of the following:
• Five sections of land within the Santa Rosa Mountains, four sections owned by Travertine
property owners and one section owned by the Nature Conservancy; together comprising 3,207
acres within the Santa Rosa Mountain National Scenic Area, offered to the BLM.
Page 8 of 30
TRAVERTINE PROJECT
• One section of land owned by the BLM comprising approximately 639 acres offered to the
Travertine property owners.
• Upon approval of the Toro Canyon land exchange, the 639 acres were combined with
approximately 270 acres of adjacent acres to create the Travertine project site for a total of
approximately 909 acres of developable land.
The County of Riverside included the Travertine project site within its Eastern Coachella Valley
Community Plan (ECVCP). The ECVCP land use designation for the site's lower elevation - the
flatter portions of the site - was "Planned Residential Reserve". This designation was intended to
allow for large scale, self-contained Resort/Spa communities. The steeper portions of the site were
designated as "Mountainous Areas" in the ECVCP where limited land uses permitted in areas covered
by this designation included Open Space, limited recreational uses, limited single family residential,
landfills and resource development.
Once the Toro Canyon land exchange was approved, the City of La Quinta began annexation
proceedings with the county if Riverside for the Travertine project site. The annexation was
completed in 1993 with the project site designated as Low Density Residential (LDR, 2 to 4 du/ac)
and Open Space (1 du/ac) land uses.
In June 1995, the Travertine Specific Plan was approved and an EIR was certified by the La Quinta
City Council by adoption of Resolutions 95-38 and 95-39, subject to conditions of approval and a
Mitigation Monitoring and Reporting Program (MMRP). Along with the Specific Plan, the
corresponding General Plan Amendment and Change of Zone were also approved. The Specific Plan
identified a number of land uses including:
• Very Low Density Residential
• Medium Residential
• Medium High Residential
• Neighborhood Commercial
• Tourist Commercial
• Golf Course Open Space
In June 1999, the La Quinta Planning Commission re -approved the Specific Plan for the Travertine
project site to allow for an indefinite extension of time by adoption of Resolution 99-061.
In June 2004, a request was submitted to the U.S. Fish and Wildlife Service (USFWS) to initiate a
Section 7 consultation regarding the impacts to the Peninsular Bighorn Sheep and its designated
critical habitat. A Biological Opinion (BO) was completed by the USFWS in December 2005 that
evaluated the biological resources on the project site in a Biological Assessments (BA). The
Travertine property owners had acquired several areas off-site to preserve open space habitat for the
Bighorn Sheep and had proposed several mitigation measures in the time between the initial Specific
Plan approval (1995) and the start of the Section 7 consultations (2005). The BO concluded that the
mitigation measures proposed by Travertine, including the setbacks from habitat and the types of
vegetation allowed near the southern and western property lines, would be appropriate for the
preservation of any critical habitat that existed in the area and that the development of the site as
Page 9 of 30
TRAVERTINE PROJECT
previously approved, would not interfere with the Bighorn Sheep or its critical habitat.
Table 1: Approved Specific Plan and Proposed Specific Plan Comparison
Previously Approved Specific Plan
Proposed Specific Plan Amendment
Bounded by Avenue 60 to the North, Avenue
64and BLM Land to the South, Madison
Street to East and Jefferson Street to the
West
909 -acres
2,300 Residential Dwelling Units
10 -acres of Commercial
500 Room Resort / Hotel
36 — Hole Golf Course
Tennis Club
Private Recreation in Individual Developments
378 -acres of Open Space Recreation (all golf
course)
Bounded by Avenue 60 to the North, Avenue 64
and BLM Land to the South, Madison
Street to East and Jefferson Street to the
West
855 -acres
1,200 Residential Dwelling Units
100 Villa Resort and Wellness Spa
Golf Facility with associated Recreational and
Commercial Elements
Tennis Club Removed
Private Recreation in Individual Developments
55.9 -acres Open Space / Recreational
301.2 Open Space Natural/ Preserved
Page 10 of 30
TRAVERTINE PROJECT
The current plan:
• Preserves 35% of the project area as permanent open space.
• Reduces the number of dwelling units by 1,100 residences or 52%
• Reduces the acreage of golf uses from 363 acres to 46.2 acres or 79%
• Reduces the number of resort rooms from 500 to 100 or 80%
Page 11 of 30
TRAVERTINE PROJECT
Exhibit 4 — City of La Quinta — Existing General Plan / 1999 Specific Plan
,1 ( A (
1 I
I 1
CORAL
CANYON -4
(FUTURE) ;X'
LEGEND
Law Density Residential
Medium/High Density Residential
General Commercial
Tourist Commercial
Major Community Facilities
Open Space - Recreation
Proposed Specific Plan Boundary
Existing Specific Plan Boundary
Page 12 of 30
TRAVERTINE PROJECT
Exhibit 5 — Proposed General Plan Land Use
Dike 2
-• AVENUE 58
,, CORAL
CANYON
(FUTURE)
\
Coral
Mountain
1
Dike 4
AVENUE 60
•
AVENUE 62
1I
ri
Martinez
Rock Siidc
ii„, , ,,,,_-____
, k—
y,___ uL
LEGEND
Low Density Residential
Medium ! High Density Residential
Tourist Commercial
Open Space - Recreation
Open Space - Natural
Proposed Specific Plan Boundary
Page 13 of 30
TRAVERTINE PROJECT
1.3 Project Description
The proposed Specific Plan Amendment area covers an area of approximately 855 acres. As shown
in Exhibit 5, Proposed General Plan Land Use Map, the proposed project will be comprised of a
variety of land uses. Residential land uses will range from low density (1.5 to 4.5 dwelling units per
acre) to medium density (4.5 to 8.5 dwelling units per acre). A resort/spa facility will serve residents,
tourists and recreational visitors, including a 40,058 -square -foot boutique hotel with a 175 -seat
restaurant, and 100 resort villas totaling 210,000 square -foot. The resort/spa will also allow for a
11,654 -square -foot spa and wellness center. The golf training facility with a 2,000 -square -foot
clubhouse/locker room and 46,378 -square -foot banquet facility and 15,904 square foot restaurant will
provide recreational and dining opportunities to serve the daily needs of the community and its
visitors. Table 1, Proposed Planning Area Summary, shows the land use associated with each
planning area. Exhibit 6, Planning Area Land Use Plan, shows the location of each project planning
area.
The project components shall include:
• 1,200 Dwelling Units of varying types
o 758 Low Density Units and 442 Medium Density Units
o Estate Homes, Single Family Luxury Homes, Single Family Mid Homes, Single Family
Entry Homes, Patio Homes, Single Family Attached Units
• Golf training facility
• 100 -villa resort
• Wellness Spa
• Tourist serving recreational facilities and amenities including restaurants, small shops, spa
facilities, lounge and activity rooms, outdoor activities, tennis, yoga, etc.
• Bike lanes throughout community, including Class II bike lanes located along both sides of
Jefferson Street
• Pedestrian walkways and a Travertine community trail — a network of trails suitable for
pedestrian use planned throughout the community
• Recreational Open Space uses, including picnic tables, barbeques, golf training facilities, a tot
lot playground and staging facilities for the regional interpretive trail
• One staging area located to the south of the Avenue 62 extension with parking
• CVWD Well Sites (quantity to be determined by CVWD)
• Future 5 -acre IID substation will be located off-site within a 2.5 -mile radius of the project
area.
• Perimeter flood protection barrier along the western and southern boundaries to manage
alluvial fan flows. The barrier will consist of a raised edge condition with a slope lining to
protect against scour and erosion.
• Two off-site booster stations. One on Avenue 62, east of the project site, and the second at
Avenue 58 and Dike #2, north of the project site.
Page 14 of 30
TRAVERTINE PROJECT
Table 2: Proposed Planning Area Summary
PA
Land Use
Acres
Density
Range (du/ac)
Target
Density (du/ac)
Target
Units
1
Resort/Spa
Boutique Hotel (175 -seat restaurant) - 40,058 sf
Resort Villas - 210,000 sf
Spa and Wellness -11,654 sf
38.3
Section 5 Access & PA Access
1.2
100 villas
2
Medium Density Residential
25.9
4.5-8.5
7.9
205
3
Low Density Residential
29.4
1.5-4.5
2.9
85
4
Low Density Residential
9.6
1.5-4.5
2.8
27
5
Low Density Residential
16.2
1.5-4.5
1.9
31
6
Medium Density Residential
20.1
4.5-8.5
8.1
163
7
Low Density Residential
18.7
1.5-4.5
3.2
61
8
Low Density Residential
16.9
1.5-4.5
4.3
73
9
Medium Density Residential
14.8
4.5-8.5
5.0
74
10
Low Density Residential
25.6
1.5-4.5
2.9
75
11
Resort / Golf
Banquet Facility -46,378 sf
Golf Clubhouse Restaurant -15,904 sf
Golf Clubhouse Locker Room - 2,000 sf
46.2
12
Low Density Residential
52.2
1.5-4.5
2.3
107
13
Low Density Residential
26.7
1.5-4.5
1.8
48
14
Low Density Residential
39.0
1.5-4.5
1.6
65
15
Low Density Residential
33.3
1.5-4.5
2.2
70
16
Low Density Residential
50.4
1.5-4.5
2.3
116
17
Open Space Recreational
18.1
18
Open Space Recreational
14.7
19
Open Space Recreational
23.1
20
Open Space Natural
301.2
21
Master Planned Roadways
35.0
Total
855.4
1,200 DU
100 villas
Master Planned Roadways
Roadways
Acres
Jefferson Street
17.1
Loop West
9.7
Loop East
5.5
Section 5 Access & PA Access
1.2
Madison EVA
1.5
Total
35.0
Page 15 of 30
TRAVERTINE PROJECT
1.3.1 Residential Planning Areas
Residential areas account for approximately 44.2 percent of the project's total land area. The project
proposes a maximum of 1,200 dwelling units based on a range of lot sizes. Residential planning areas
would vary in density from 1.5 du/ac to 8.5 du/ac, resulting in an overall average density for the
project of 1.4 du/gross ac. Planning areas 2 through 10, and 12 through 16, totaling approximately
378.9 acres, are designated for residential land uses. (See Exhibit 6 — Planning Area Land Use Plan).
Planning Areas 3, 4, 5, 7, 8, and 10 and 12 through 16 will have a maximum overall density of 4.5
du/ac and Planning Areas 2, 6 and 9 would have maximum overall density of 8.5 du/ac. Based on the
target density for each residential planning area the proposed project would include 442 medium
density (4.5-8.5 du/ac) residential dwelling units and 758 low density (1.5-4.5 du/ac) residential
dwelling units. The Low -Density Residential category will be characterized by larger single-family
residential lots (6,300 to 9,600 square feet). The Medium Density Residential planning areas are
intended to provide medium density, single-family residential products to accommodate lots ranging
from 4,000 to 5,775 square feet.
In conformance with project goals, several housing styles are proposed that comply with the
maximum density for each planning area. Residential product types would vary to meet market
demand but are anticipated to include the following:
• Estate Homes
• Single Family Luxury Homes
• Single Family Mid Homes
• Single Family Entry Homes
• Patio Homes
• Single Family Attached Units
Travertine will offer a variety of housing sizes and styles designed to meet the needs of all age groups.
The Specific Plan Amendment incorporates neighborhood design and sustainability principles.
Page 16 of 30
TRAVERTINE PROJECT
Exhibit 6 — Planning Area Land Use Plan
LEGEND
Low Density Residential - 318.1 Ac
Medium Density Residential - 60.8 Ac
Resort - Golf Glut) - 84.5 Ac
Open Space 1 Recreational - 55.9 Ac
Open Space 1 Natural - 301.2 Ac
Master Planned Roadways - 35.0 Ac
Total Acreage: 855.4 Au
Page 17 of 30
TRAVERTINE PROJECT
1.3.2 Tourist Serving Recreational Facilities
A luxury resort, wellness spa and golf training facility are planned for an approximately 84.5 -acre
site located in Planning Areas 1 and 11. These areas will consist of resort related amenities including
restaurants, small shops, spa facilities, lounge and activity rooms, outdoor activities, yoga, walking
and hiking trails. The resort planning areas are anticipated to provide 100 -villas and a golf training
facility. Table 2 Proposed Uses and Amenities for Resort/Golf Planning Areas shows additional
details.
Table 3: Proposed Uses and Amenities for Resort/Golf Planning Areas
Planning
Area
Proposed Use
Estimated Indoor
Area (Square Feet)
1
Boutique Hotel & (175 -seat restaurant)
40,058
1
Resort Villas
210,000
1
Spa and Wellness
11,654
11
Banquet Facility
46,378
11
Banquet Facility Restaurant
15,904
11
Golf Clubhouse Locker Room
2,000
1.3.3 Open Space/Recreation Planning Areas
Open Space Recreational areas include Planning Areas 17, 18, and 19, and encompass a total of
55.9 acres of the approximately 855 -acre site. Exhibit 6 shows the proposed planning area land use
locations. Exhibit 7, Recreation Plan, shows areas designated as Open Space, as well as the proposed
recreational trails.
A golf training facility is located near the southeastern entry to the project on approximately 46.2
acres (Planning Area 11). This will provide a high-end practice and training facility for both the
residents and guests.
1.3.4 Open Space/Natural Planning Areas
Open Space Natural Areas include Planning Area 20 and encompass approximately 301.2 acres. An
area of land along the southern, western and eastern boundaries of the site is restricted from
development due to various environmental constraints including biological, geological and cultural
resources.
Portions of the open space/natural area were determined to be of biological importance by the US
Fish and Wildlife Service (USFWS) through the Biological Opinion completed in 2005 and the
subsequent federal Environmental Assessment completed in 2006.
Page 18 of 30
TRAVERTINE PROJECT
Equestrian/multi-use trails are provided in the Specific Plan. This plan will incorporate access,
signage, and detailed design. The area along the southern edge of this site, adjacent to the Martinez
Rock Slide, will be limited to recreational uses. As part of the recreational plan and trail system, an
interpretive design element will provide signage and educational information to discourage
trespassing on unauthorized areas of cultural significance. A cultural resources study has been
conducted for development near the Martinez Rock Slide, and local tribes have been contacted as part
of the procedures. This area is designated as a buffer between the residential development and the
natural open space of the foothills of the Santa Rosa Mountains. This area will not include permanent
structures as required by the Biological Opinion completed by the US Fish and Wildlife Service in
2005.
The Conceptual Land Use Plan was developed with consideration of the environmental constraints
associated with the surrounding land, including adjacency to the Santa Rosa Mountains and
Martinez Rock Slide area to the south, Coral Mountain to the north, and the CVWD spreading
grounds to the east and northeast. Exhibit 6, Planning Area Land Use Plan shows the proposed land
use locations.
Access to the proposed water tanks will be provided from the project internal loop road, into
Planning Area 20 Open Space/Natural area and development of this area will be limited to the
project's water tanks and related infrastructure.
Page 19 of 30
TRAVERTINE PROJECT
1.3.5 Recreational Amenities
The Travertine project will offer a range of amenities that will be accessible to neighborhood
homeowners and the public. These recreational amenities include a two-mile long public trail that
will be developed around the perimeter of the project site; a central private spine trail that bisects the
residential areas of the property; on -street biking paths; preservation of natural open space; and
additional private parks located within the development areas. A golf training facility with club
facilities such as banquet facilities, will be open to residents, citizens of La Quinta and tourists. A
resort and spa with restaurants, shops and activities and a wellness facility will attract both residents and
visitors to the community.
Page 20 of 30
TRAVERTINE PROJECT
Exhibit 7 — Recreation Plan
/Dike 2 _
PROPOSED
JEFFERSON STREET I
CORAL 1447:44..
. f �
ND \)\
tt� (FUCATURE)YN �. 4��
4. Ilib r ' Coral
itt .41 Mountain
V ^`-, t i
Y
O=
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Q9
Dike 4
— AVENUE60
L
e
0
-
�
' 0•
•
r
r i
AVENUE 62
LEGEND
Boo Hoff Trail
Community Grand Loop Trail
Open Desert Trail
Martinez
Rock Slide
i )
Strolling Trail
Interconnector Trail
Class H Bike Trail
Open Space / Recreational
Open Space / Natural
Parks
I 0 I
Trailhead
Page 21 of 30
TRAVERTINE PROJECT
1.3.6 Master Planned Roads
The development of the Travertine site provides for substantial improvements to several roadways, including
the southerly extension of Jefferson Street as a private Modified Secondary Arterial south of the proposed
Coral Mountain property and the westerly extension of Avenue 62 as a Modified Secondary Arterial. Loop
roads extended from both sides of the Jefferson Street spine via roundabout intersections.
Exhibit 8, Circulation Plan, shows the proposed alignment of Jefferson Street and the main loop road
within the project site. Access to the southwest portion of the development area (access to the proposed water
tanks) will be provided from the internal loop road. This area is Restricted Open Space, and development of
this area will be limited to the project's water tanks and related infrastructure.
Page 22 of 30
TRAVERTINE PROJECT
Exhibit 8 — Circulation Plan
LEGEND
Jefferson Street 1 Avenue 62
Loop Collector
Local Roads
101
Roundabout
P * 1 Gates
I Access Road
Madison Street EVA
Page 23 of 30
TRAVERTINE PROJECT
1.3.7 Infrastructure
Existing infrastructure on the project site is very limited as the site has not been previously
developed. The former vineyard area was provided with water from an on-site well. In addition to
the Master Planned Roadway system, the project also includes a master plan for infrastructure
including drainage features, underground utilities and water tanks.
Grading and Drainage
The project site slopes gently in a downslope direction from west to east and is subject to two types
of drainage conditions: alluvial fan flow and incised drainage corridors along inactive fans. Existing
drainages originate in the Santa Rosa Mountains to the west. Exhibit 9, shows the proposed Grading
Plan for the project. Exhibit 10, Conceptual Hydrology, illustrates the off-site and proposed on-
site water flow., The exhibit also shows a proposed perimeter flood barrier to divert watershed flows.
The project's flood control berms will be constructed to shield and encompass the project's
developable planning areas and convey upstream flow from Devils Canyon/Guadalupe Creek,
Middle North Canyon, Middle South Canyon, and Rock Avalanche Canyon downward towards
Dike No. 4 south of the proposed Avenue 62 crossing.
The drainage plan proposes to capture on-site flows and direct them across the project to the eastern
side of the project site. The intent is to capture all flows and detain them on-site in a series of basins
that will be developed with water quality best management practices (BMPs) to treat the water before
percolation into the ground. The proposed basins are designed to detain and percolate the projected
on-site flows created from impervious surfaces. Excess water relative to existing flows will not be
released unimpeded into the adjacent CVWD groundwater recharge ponds.
Page 24 of 30
TRAVERTINE PROJECT
Exhibit 9 - Grading Plan
CORAL
CANYON
(FUTURE) j.
Page 25 of 30
TRAVERTINE PROJECT
Exhibit 10 — Conceptual Hydrology
LEGEND
I— +I
Existing Major Watershed
Existing Sheet Flow
Watershed Diversion
ISI
Perimeter Flood Barrier
On -Site Drainage
WQMP Dasln
1•I
High Point
Page 26 of 30
TRAVERTINE PROJECT
Water
The Coachella Valley Water District (CVWD) currently has jurisdiction over domestic water service
to the project property illustrated in Exhibit 11, Conceptual Water Plan. Currently, domestic water
service lines exist in three areas near the project. These include the intersection of Avenue 60 and
from the Jefferson extension and Avenue 62. Water lines will be extended from Avenue 62 and the
proposed EVA to serve the project. Water lines will be connected prior to any construction.
Nine additional well sites are necessary to serve the project. One well will be constructed during
Phase I, located off the Travertine project site. The locations of the future well sites are currently
under discussion with CVWD and will be identified and analyzed in the EIR.
Additional facilities will include two water reservoirs and booster station(s) to collect well water and
store it at the appropriate elevation to provide the required water pressure for the site. Two off-site
booster stations currently exist near the project property. One booster station is located on Avenue
62, east of the project site, while the second booster station is located at Avenue 58 and Dike #2,
north of the project site. The project site will be served with a thirty -inch main line within Jefferson
Street/Madison Street alignments. Twelve -inch and smaller lines will then feed off the main line to
serve the individual developments along these public streets.
Water tanks are proposed to be developed to serve the site in Planning Area 23. The water tank
locations, including related facilities (road, pipelines, etc.), are subject to review and approval by the
USFWS. Permanent structures, with the exception of two water reservoirs, service roadway,
underground pipelines and ancillary facilities, as allowed through the consultation with the USFWS,
will be prohibited in the Restricted Open Space (Natural) area. A portion of the Open Space Natural
Planning Areas is located in a conservation area of the Coachella Valley Multiple -Species Habitat
Conservation Plan (CVMSHCP). The project will be required to undergo Joint Project Review (JPR)
for development of the water infrastructure improvements within the conservation area. During the
JPR process, the Coachella Valley Conservation Commission and other interested Wildlife Agencies
have the opportunity to comment on the proposed development. The JPR will be analyzed in the EIR.
Page 27 of 30
TRAVERTINE PROJECT
Exhibit 11 —Conceptual Water Plan
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CANYON,��
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LEGEND
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Designate Zone Separation
335 Domestic Water Main
425 Domestic Water Man
Page 28 of 30
TRAVERTINE PROJECT
Sewer
The closest Coachella Valley Water District sewer connection currently exists at Monroe Street and
Avenue 62, approximately one mile east. The proposed facilities are comprised of a series of eight -
inch sewer lines serving the individual developments and flowing into the main sewer line located
within Jefferson Street/spine road alignment. The main sewer line increases in size as it extends
eastward, ranging from eight inches on the west side to 15 inches at Madison Street, where the line
exits the project site. The offsite sewer alignment and improvements will come from the east in
Avenue 62. The EIR will further analyze the impacts to sewer and the offsite extension. (See Exhibit
12, Conceptual Sewer Plan)
Utilities
Southern California Gas Company provides natural gas to the project site. Electric service to
Travertine will be provided by Imperial Irrigation District. An offsite substation will be required for
the Travertine development and will be located and constructed during Construction Phase I. The
five -acre site required by IID for a substation will be studied in the EIR.
The location of the five -acre site will be within a two-mile radius of the project. The routing of the
proposed service lines along the route to the site will be studied in the EIR.
Page 29 of 30
TRAVERTINE PROJECT
Exhibit 12 —Conceptual Sewer Plan
Dike 2
PROPOSED
JEFFERSON STREET
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CANYON
(FUTURE) � .
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LEGEND
'l Sewer Lines
Page 30 of 30
U.S.
FISH & WILDLIFE
SERVICE
1
U.S. FISH AND WILDLIFE SERVICE
Palm Springs Fish and Wildlife Office
777 E. Tahquitz Canyon Way, Suite 208
Palm Springs, California 92262
In Reply Refer to:
FWS/CDFW-ERIV-21 TA0680
Peter Satin
Coachella Valley Conservation Commission
73-710 Fred Waring Drive, Suite 200
Palm Desert, California 92260
CALIFORNIA
DEPARTMENT OF
FISH &
WILDLIFE
IPA
CALIFORNIA DEPARTMENT OF
FISH AND WILDLIFE
Inland Deserts Region
3602 Inland Empire Blvd., Suite C-220
Ontario, California 91764
March 4, 2021
Sent Electronically
Subject: Joint Project Review 20-006 for the Travertine Residential Development, Coachella
Valley Multiple Species Conservation Plan
Dear Mr. Satin:
The U.S. Fish and Wildlife Service (Service) and the California Department of Fish and Wildlife
(CDFW), hereafter collectively referred to as the Wildlife Agencies, have reviewed the Joint
Project Review (JPR) for the Travertine Project (Project), which we received from the Coachella
Valley Conservation Commission (CVCC) on February 2, 2021. In accordance with the Coachella
Valley Multiple Species Habitat Conservation Plan (MSHCP), the Wildlife Agencies are providing
the following comments to assist in your consistency determination for the subject JPR.
PROJECT DESCRIPTION
The Project is located in the City of La Quinta, within the Santa Rosa and San Jacinto Mountains
Conservation Area (Conservation Area) of the MSHCP. Features of the Project include two water
tanks, ancillary infrastructure, and an access road anticipated to result in a total of 6.5 acres of
novel disturbance within the Conservation Area. This Project is a component of the Travertine
Residential Development, a proposed 855 -acre mixed-use residential, recreational, and commercial
complex situated on a large alluvial fan at the base of the Santa Rosa Mountains and Martinez
Rockslide, west of Madison Street and north of 62nd Avenue. The development's footprint includes
315 acres of land within the Conservation Area.
Prior to the implementation of the MSHCP, section 7 consultation for the Travertine Development
was initiated by the Bureau of Reclamation (BOR) and Bureau of Land Management (BLM) in 2005
to analyze effects to federally listed species from the proposed issuance of three right-of-way (ROW)
grants and amendments to the Project proponents. The Service issued a Biological Opinion (BO)
on December 7, 2005 which evaluated impacts of the development's entire footprint within the
action area. JPR 20-006 evaluates the Project's consistency with MSHCP requirements for the
proposed disturbance on the private land within the Conservation Area subject to review under
section 6.6.1.1 of the MSHCP.
Peter Satin (FWS/CDFW-ERIV-21TA0680) 2
Joint Project Review Process:
The purpose of the Joint Project Review Process is to allow CVCC to facilitate and monitor
implementation of the MSHCP. The Joint Project Review Process requires that the project
application shall include, at a minimum, a project description; a map in either electronic format
compatible with CVCC's GIS or a map on a USGS 7.5 minute topographic map, indicating the
location of the proposed project, including section, township, and range; and Assessor's Parcel
Number(s). CVCC is required to provide the Local Permittee an analysis of how the proposed
project would impact: (1) the Conservation Area, and (2) Conservation Objectives and Required
Measures delineated in Section 4.3 for each Conservation Area and in Section 9 for each proposed
Covered Species' Goals and Objectives. Additionally, CVCC would analyze how the project
would affect the maintenance of Rough Step in the affected Conservation Area. The project
application information provided has insufficient information to evaluate if the Required
Measures for the Conservation Area include the Covered Species Conservation Goals and
Objectives in Section 9. These objectives include: (1) Objective lb: Ensure implementation of
avoidance, minimization, and mitigation measures as described in Section 4.4, and Land Use
Adjacency Guidelines as described in Section 4.5; and (2) Objective ld: Ensure that any
development allowed does not fragment Habitat, and that edge effects from such Development
are minimized. Insufficient information has been provided to adequately review if Land Use
Adjacency Guidelines have been addressed. The Wildlife Agencies have outlined our comments
and concerns below that should be addressed such that CVCC has adequate information to
conclude the projects consistency determination.
Wildlife Agencies Project Concerns
The Wildlife Agencies have reviewed the JPR and would like to request the following items that
pertain to the development as a whole:
1. In addition to being state and federally listed, Nelson bighorn sheep [Peninsular Range
DPS; Peninsular bighorn sheep (Ovis canadensis nelsoni); bighorn sheep] have the
classification of Fully Protected by the State of California. This means that they may
not be taken or possessed at any time and no licenses or permits may be issued for their
take. Impacts to the habitat of bighorn sheep are permitted per the terms of the Service's
BO and the MSHCP. The Wildlife Agencies ask that all project documents, including
the JPR, are updated to accurately reflect this fact.
2. Please clarify if there are plans for fuel modification zones surrounding any of the
development facilities. If so, please describe these fuel modification activities and their
timing and location, and associated avoidance and minimization measures and land use
adjacency guidelines to minimize impacts on the Conservation Area, bighorn sheep and
their critical habitat.
3. Please clarify that all outdoor lighting associated with the development plan will be
down -shielded and directed away from the hillsides in accordance with the City of La
Quinta municipal code.
Peter Satin (FWS/CDFW-ERIV-21TA0680) 3
Avoidance and Minimization Measures: Water Tanks and Nature Trail
As discussed in the BO, the canyon mouth and alluvial fans extending from the southwest corner
of the project site are essential foraging habitat for bighorn sheep. Because these habitats are
located at a distance from escape habitat, bighorn sheep are cautious when foraging in these
areas, while these habitats provide forage that is important for their survival. For this reason, the
edge effects caused by the construction, operations, and maintenance of the water tanks and
nature trail should be closely considered, minimized, and documented. The Wildlife Agencies
concerns, and comments are outlined below:
Water Tanks:
The BO includes avoidance and minimization measures associated with the construction of the
water tanks including, but not limited to, depressing and screening the tanks, painting above-
ground portions of the tanks with non -reflective paint that blends with surrounding habitat,
installing access gates to the maintenance road to reduce recreational use and development of
new trails, and avoiding nighttime lighting of the water tank facilities. The JPR however, does
not identify avoidance and minimization measures. Thus, the Wildlife Agencies request
additional information, and recommend incorporation into the JPR specific avoidance and
minimization measures to reduce impacts on the nearby Conservation Area and the area's
important wildlife resources.
1. The JPR states that 6.5 acres of additional disturbance are anticipated inside the
Conservation Area for work related to the construction of two water tanks and the
associated maintenance road. The BO states that the footprint of the water tanks and
access road is expected to be 6 acres. Please clarify this discrepancy in impact acreage
and any implications for compensatory mitigation. Please update the work plan with the
anticipated timeline/phasing for the construction of the water tanks and associated road
in relation to other project components. Some conditions and measures in the BO are
expected to occur at certain points in the Project's timeline.
2. Please identify any areas where temporary impacts associated with the construction of
the water tanks and/or road will take place. This should include an exhibit of the
temporary impacts and restoration plans for these areas. Additionally, the Wildlife
Agencies recommend that habitats are restored using native plant seeds sourced from
the nearby area.
3. Please outline any operations and maintenance activities that will be required on the
water tanks or associated road. This should include details on how impacts to wildlife
resources will be avoided and/or minimized.
Nature Trail:
The BO includes avoidance and minimization measures associated with the construction and use
of the nature trail including, but not limited to, fencing to discourage off -trail recreational use,
signage on permitted uses of the trail, educational materials on bighorn sheep, and personnel to
Peter Satin (FWS/CDFW-ERIV-21TA0680) 4
monitor trail use and control access to adjacent hills. The JPR however, does not identify
avoidance and minimization measures; thus, the Wildlife Agencies are requesting additional
information, and incorporation into the JPR specific avoidance and minimization measures to
reduce impacts on the nearby Conservation Area and the area's important wildlife resources.
1. Maps provided with the JPR show that a trail enters the Conservation Area (Exhibit 7 —
Recreation Plan), and this is also reflected in the BO. Please confirm whether these trails
have since been rerouted to avoid the Conservation Area.
2. The BO (pg. 4) states there will be a 200 ft buffer between the development and bighorn
sheep habitat (100 ft buffer plus an additional 100 ft buffer associated with the nature
trail). Are these setbacks consistent with the current development plan?
3. In previous meetings, Wildlife Agencies have discussed the idea of moving the nature
trail further away from the Conservation Area. However, the Wildlife Agencies are
unable to determine if that recommendation was implemented. Thus, we recommend
that a larger buffer area is created between the nature trail and the Martinez Rockslide
to minimize edge effects.
4. Please indicate if any nighttime artificial lighting will be used in association with the
nature trail. The Wildlife Agencies recommend no nighttime artificial lighting is used
along the trail to avoid negative impacts the wildlife resources. Trail use curfews should
be clearly identified using signage and specific measures identified on how curfews
will be enforced and who is responsible for enforcement.
5. Please add additional details on the permitted uses of the nature trail as the JPR does
not clearly identify the types of use that will be allowed on the nature trail. The Wildlife
Agencies recommend the Project ensures compatibility of recreation types to avoid
and/or minimize impacts to wildlife resources. For instance, equestrian use and
mountain biking are generally not compatible on the same trail system.
6. Please clarify what enforcement mechanisms will exist to identify, control, and enforce
the construction of new trails, off -trail use, and other prohibited recreational activities.
7. In addition to fencing plans in the BO, the Wildlife Agencies recommend that a post and
cable type fencing is used along the nature trail and in other areas adjacent to conserved
areas. This type of fencing has proven helpful at keeping recreational users on the nature
trail and out of sensitive resource areas.
SUMMARY
The Wildlife Agencies are unable to complete their comments on the JPR given the outstanding
questions included in this response letter. We recommend addressing the insufficient information
identified above to make determination of consistency with the MSHCP. We appreciate the efforts
by the project applicant and CVCC to work with the Wildlife Agencies to address the concerns
regarding consistency with the MSHCP. We are available to continue to work with the project
Peter Satin (FWS/CDFW-ERIV-21TA0680) 5
applicant and CVCC to define a project that is consistent with the conservation goals and
objectives identified in the MSHCP.
We appreciate the opportunity to provide comments on this Joint Project Review. If you have
any questions regarding our comments, please contact Alicia Thomas 1 at the Service, or Carly
Beck2 of the CDFW.
for Rollie White
Assistant Field Supervisor
U.S. Fish and Wildlife Service
Sincerely,
DocuSigned by:
Auftux m
DF423498814B441...
for Scott Wilson
Environmental Program Manager
California Department of Fish and Wildlife
cc:
Cheri Flores, Planning Manager, City of La Quinta
1 alicia_thomas@fws.gov
Z carly.beck@wildlife.ca.gov
Appendix C
Appendix C: Avoidance, minimization, and mitigation measures and
land use adjacency guidelines
4.4 Avoidance, Minimization, and Mitigation Measures
Biological Corridors. Specific roads in Conservation Areas, where culverts or undercrossings
are required to maintain Biological Corridors, are delineated in the Section 4.3 subsections on
individual Conservation Areas.
Burrowing Owl. This measure does not apply to single-family residences and any non-
commercial accessory uses and structures including but not limited to second units on an existing
legal lot, or to O&M of Covered Activities other than levees, berms, dikes, and similar features
that are known to contain burrowing owl burrows. O&M of roads is not subject to this requirement.
For other projects that are subject to CEQA, the Permittees will require burrowing owl surveys in
the Conservation Areas using an accepted protocol (as determined by the CVCC in coordination
with the Permittees and the Wildlife Agencies). Prior to Development, the construction area and
adjacent areas within 500 feet of the Development site, or to the edge of the property if less than
500 feet, will be surveyed by an Acceptable Biologist for burrows that could be used by burrowing
owl. If a burrow is located, the biologist will determine if an owl is present in the burrow. If the
burrow is determined to be occupied, the burrow will be flagged and a 160 -foot buffer during the
non -breeding season and a 250 -foot buffer during the breeding season, or a buffer to the edge of
the property boundary if less than 500 feet, will be established around the burrow. The buffer will
be staked and flagged. No Development or O&M activities will be permitted within the buffer until
the young are no longer dependent on the burrow.
If the burrow is unoccupied, the burrow will be made inaccessible to owls, and the Covered Activity
may proceed. If either a nesting or escape burrow is occupied, owls shall be relocated pursuant
to accepted Wildlife Agency protocols. A burrow is assumed occupied if records indicate that,
based on surveys conducted following protocol, at least one burrowing owl has been observed
occupying a burrow on site during the past three years. If there are no records for the site, surveys
must be conducted to determine, prior to construction, if burrowing owls are present.
Determination of the appropriate method of relocation, such as eviction/passive relocation or
active relocation, shall be based on the specific site conditions (e.g., distance to nearest suitable
habitat and presence of burrows within that habitat) in coordination with the Wildlife Agencies.
Active relocation and eviction/passive relocation require the preservation and maintenance of
suitable burrowing owl habitat determined through coordination with the Wildlife Agencies.
Within one (1) year of Permit issuance, CVCC will cooperate with County Flood Control, CVWD
and IID to conduct an inventory of levees, berms, dikes, and similar features in the Plan Area
maintained by those Permittees. Burrowing owl burrow locations will be mapped and each of
these Permittees will incorporate the information into its O&M practices to avoid impacts to the
burrowing owl to the maximum extent Feasible. CVCC in cooperation with County Flood Control,
CVWD, and IID will prepare a manual for maintenance staff, educating them about the burrowing
owl and appropriate actions to take when owls are encountered to avoid impacts to the maximum
extent Feasible. The manual will be submitted to the Wildlife Agencies for review and comment
within two (2) years of Permit issuance. In conjunction with the Monitoring Program, the maps of
the burrowing owl locations along the above-described levees, berms, dikes, and similar features
will be periodically updated.
1
Appendix C
Covered Riparian Bird Species. This measure does not apply to single-family residences and
any non-commercial accessory uses and structures including but not limited to second units on
an existing legal lot. Riparian Habitat here refers to the following natural communities: southern
arroyo willow riparian forest, Sonoran cottonwood -willow riparian forest, desert fan palm oasis
woodland, and southern sycamore -alder riparian woodland in the Cabazon, Stubbe and
Cottonwood Canyons, Whitewater Canyon, Upper Mission Creek/Big Morongo Canyon,
Thousand Palms, Indio Hills Palms, Joshua Tree National Park, Mecca Hills and Orocopia
Mountains, Dos Palmas, Coachella Valley Stormwater Channel and Delta, and Santa Rosa and
San Jacinto Mountains Conservation Areas. Covered Activities, including O&M of facilities and
construction of permitted new projects, in riparian Habitat will be conducted to the maximum
extent Feasible outside of the March 15 — September 15 nesting season for least Bell's vireo, and
the May 1 — September 15 nesting season for southwestern willow flycatcher, summer tanager,
yellow warbler, and yellow -breasted chat. If Covered Activities must occur during the nesting
season, surveys shall be conducted to determine if any active nests are present. If active nests
are identified, the Covered Activity shall not be conducted within 200 feet of an active nest. If
surveys conducted during the nesting season document that Covered nesting riparian bird
Species are not present, the Covered Activity may proceed.
Crissal Thrasher. This measure does not apply to single-family residences and any non-
commercial accessory uses and structures including but not limited to second units on an existing
legal lot, or to O&M of Covered Activities. In modeled crissal thrasher Habitat in the Willow Hole,
Thousand Palms, Indio Hills Palms, East Indio Hills, Dos Palmas, and Coachella Valley
Stormwater Channel and Delta Conservation Areas, surveys will be conducted by an Acceptable
Biologist prior to the start of construction activities during the nesting season, January 15 — June
15, to determine if active nest sites for this species occur on the construction site and/or within
500 feet of the construction site, or to the edge of the property boundary if less than 500 feet. If
nesting crissal thrashers are found, a 500 -foot buffer, or a buffer to the edge of the property
boundary if less than 500 feet, will be established around the nest site. The buffer will be staked
and flagged. No construction activities will be permitted within the buffer during the breeding
season of January 15 — June 15 or until the young have fledged.
Desert tortoise. This measure does not apply to single-family residences and any non-
commercial accessory uses and structures, including but not limited to second units on an existing
legal lot, or to O&M of Covered Activities for Permittee infrastructure facilities. Within Conservation
Areas, the Permittees will require surveys for desert tortoise for Development in modeled desert
tortoise Habitat. Prior to Development, an Acceptable Biologist will conduct a presence/absence
survey of the Development area and adjacent areas within 200 feet of the Development area, or
to the property boundary if less than 200 feet and permission from the adjacent landowner cannot
be obtained, for fresh sign of desert tortoise, including live tortoises, tortoise remains, burrows,
tracks, scat, or egg shells. The presence/absence survey must be conducted during the window
between February 15 and October 31. Presence/absence surveys require 100% coverage of the
survey area. If no sign is found, a clearance survey is not required. A presence/absence survey
is valid for 90 days or indefinitely if tortoise -proof fencing is installed around the Development site.
If fresh sign is located, the Development area must be fenced with tortoise -proof fencing and a
clearance survey conducted during the clearance window. Desert tortoise clearance surveys shall
be conducted during the clearance window from February 15 to June 15 and September 1 to
October 31 or in accordance with the most recent Wildlife Agency protocols. Clearance surveys
must cover 100% of the Development area. A clearance survey must be conducted during
different tortoise activity periods (morning and afternoon). All tortoises encountered will be moved
from the Development site to a specified location. Prior to issuance of the Permits, CVCC will
either use the Permit Statement Pertaining to High Temperatures for Handling Desert Tortoises
2
Appendix C
and Guidelines for Handling Desert Tortoises During Construction Projects, revised July 1999, or
develop a similar protocol for relocation and monitoring of desert tortoise, to be reviewed and
approved by the Wildlife Agencies. Thereafter, the protocol will be revised as needed based on
the results of monitoring and other information that becomes available.
Inactive Season Protocol. This protocol is applicable to pre -construction and construction
phases of utility Covered Activity projects occurring between November 1 and February 14. These
protocols apply only to the site preparation and construction phases of projects. The project
proponent must follow the eight pre -construction protocol requirements listed below.
1. A person from the entity contracting the construction shall act as the contact person with
the representative of the appropriate RMUC. He/she will be responsible for overseeing
compliance with the protective stipulations as stated in this protocol.
2. Prior to any construction activity within the Conservation Areas, the contact person will
meet with the representative of the appropriate RMUC to review the plans for the project.
The representative of the appropriate RMUC will review alignment, pole spacing, clearing
limits, burrow locations, and other specific project plans which have the potential to affect
the desert tortoise. He or she may recommend modifications to the contact person to
further avoid or minimize potential impacts to desert tortoise.
3. The construction area shall be clearly fenced, marked, or flagged at the outer boundaries
to define the limits of construction activities. The construction right of- way shall normally
not exceed 50 feet in width for standard pipeline corridors, access roads and transmission
corridors, and shall be minimized to the maximum extent Feasible. Existing access roads
shall be used when available, and rights -of way for new and existing access roads shall
not exceed 20 feet in width unless topographic obstacles require greater road width. Other
construction areas including well sites, storage tank sites, substation sites, turnarounds,
and laydown/staging sites which require larger areas will be determined in the
preconstruction phase. All construction workers shall be instructed that their activities shall
be confined to locations within the fenced, flagged, or marked areas.
4. An Acceptable Biologist shall conduct pre -construction clearance surveys of all areas
potentially disturbed by the proposed project. Any winter burrows discovered in the
Conservation Areas during the pre -construction survey shall be avoided or mitigated. The
survey shall be submitted to the representative of the appropriate RMUC as part of plan
review.
5. All site mitigation criteria shall be determined in the pre -construction phase, including but
not limited to seeding, barrier fences, leveling, and laydown/staging areas, and will be
reviewed by the representative of the appropriate RMUC prior to implementation.
6. A worker education program shall be implemented prior to the onset of each construction
project. All construction employees shall be required to read an educational brochure
prepared by the representative of the appropriate RMUC and/or the RMOC and attends a
tortoise education class prior to the onset of construction or site entry. The class will
describe the sensitive species which may be found in the area, the purpose of the MSHCP
Reserve System, and the appropriate measures to take upon discovery of a sensitive
species. It will also cover construction techniques to minimize potential adverse impacts.
7. All pre -construction activities which could Take tortoises in any manner (e.g., driving off
an established road, clearing vegetation, etc.) shall occur under the supervision of an
Acceptable Biologist.
8. If there are unresolvable conflicts between the representative of the appropriate RMUC
and the contact person, then the matter will be arbitrated by the RMOC and, if necessary,
by CVCC.
3
Appendix C
The following terms are established to protect the desert tortoise during utility related construction
activities in the Conservation Areas and are to be conducted by an Acceptable Biologist.
• An Acceptable Biologist shall oversee construction activities to ensure compliance with
the protective stipulations for the desert tortoise.
• Desert tortoises found above ground inside the project area during construction shall be
moved by an Acceptable Biologist out of harm's way and placed in a winter den (at a
distance no greater than 250 feet). If a winter den cannot be located, the USFWS or CDFG
shall determine appropriate action with respect to the tortoise. Tortoises found above
ground shall be turned over to the Acceptable Biologist
• No handling of tortoises will occur when the air temperature at 15 centimeters above
ground exceeds 90 degrees Fahrenheit.
• Desert tortoise burrows shall be avoided to the maximum extent Feasible. An Acceptable
Biologist shall excavate any burrows which cannot be avoided and will be disturbed by
construction. Burrow excavation shall be conducted with the use of hand tools only, unless
the Acceptable Biologist determines that the burrow is unoccupied immediately prior to
burrow destruction.
• Only burrows within the limits of clearing and surface disturbance shall be excavated.
Burrows outside these limits, but at risk from accidental crushing, shall be protected by
the placement of deterrent barrier fencing between the burrow and the construction area.
Installation and removal of such barrier fencing shall be under the direction and
supervision of an Acceptable Biologist.
• For electrical transmission line and road construction projects, only burrows within the
right-of-way shall be excavated. Burrows outside the right-of-way, but at risk from
accidental crushing, shall be protected by the placement of deterrent barrier fencing
between the burrow and the right-of-way. Installation and removal of such barrier fencing
shall be under the direction and supervision of an Acceptable Biologist.
• Tortoises in the Conservation Areas are not to be removed from burrows until appropriate
action is determined by USFWS or CDFG with respect to the tortoise. The response shall
be carried out within 72 hours.
• Blasting is not permissible within 100 feet of an occupied tortoise burrow.
During construction, contractors will comply with the mitigation and minimization measures
contained within this protocol. These measures are:
• All trenches, pits, or other excavations shall be inspected for tortoises by an Acceptable
Biologist prior to filling.
• All pipes and culverts stored within desert tortoise Habitat shall have both ends capped to
prevent entry by desert tortoises. During construction, all open ended pipeline segments
that are welded in place shall be capped during periods of construction inactivity to prevent
entry by desert tortoises.
• Topsoil removed during trenching shall be re -spread on the pipeline construction area
following compaction of the backfill. The area shall be restored as determined during the
environmental review.
• All test pump water will be routed to the nearest wash or natural drainage. The route will
be surveyed by an Acceptable Biologist. If tortoises are found in the drainage area the
Acceptable Biologist will remove the tortoises.
• Powerlines associated with water development, such as to provide power for pumps,
should be buried underground adjacent to the pipe. All above ground structures deemed
to be necessary shall be equipped with functional anti -perching devices that would prevent
their use by ravens and other predatory birds, and shall adhere to the electrical distribution
protocol which follows.
4
Appendix C
• In order to perform routine O&M of the water systems such as wells, pumps, water lines
and storage tanks, etc., employees are to be trained in the area of desert tortoise
education. This training will be performed on a regular basis by an Acceptable Biologist
for those personnel not previously trained. The training will include at a minimum the
following: identification of tortoises, burrows, and other sign; and instructions on installing
tortoise barrier fencing. During the course of basic O&M, desert tortoise will be avoided.
Untrained employees shall not perform maintenance operations within the reserve.
• All disturbance areas around poles or concrete pads will be reduced to a size just large
enough for the construction activity.
• Areas disturbed around poles or construction pads will be restored as determined during
the pre -construction process.
• Poles or other above ground structures necessary for electrical distribution development
shall be minimized as much as possible. All above ground structures shall be equipped
with functional anti -perching devices that would prevent their use by ravens and other
predatory birds.
• In order to perform routine O&M of the electrical distribution systems such as transmission
lines and poles, substations, etc., employees are to be trained in the area of desert tortoise
education. This training will be performed on a regular basis by a qualified biologist for
those personnel not previously trained. The training will include at a minimum the
following: identification of tortoises, burrows, and other sign; and instructions on installing
tortoise barrier fencing. During the course of basic O&M, desert tortoise will be avoided.
Untrained employees shall not perform maintenance operations within the non -Take
areas.
• All trash and food items shall be promptly contained and removed daily from the project
site to reduce the attractiveness of the area to common ravens and other desert tortoise
predators.
• Construction activities which occur between dusk and dawn shall be limited to areas which
have already been cleared of desert tortoises by the Acceptable Biologist and graded or
located in a fenced right-of-way. Construction activities shall not be permitted between
dusk and dawn in areas not previously graded. Active Season Protocol. This protocol
is applicable to pre -construction and construction phases of utility development projects
occurring between February 15 and November 1. It is identical to the Inactive Season
Protocol with the following additions:
• Work areas shall be inspected for desert tortoises within 24 hours of the onset of
construction. To facilitate implementation of this condition, burrow inspection and
excavation may begin no more than seven (7) days in advance of construction activities,
as long as a final check for desert tortoises is conducted at the time of construction.
• All pre -construction activities which could Take tortoises in any manner (e.g., driving off
an established road, clearing vegetation, etc.) shall occur under the overall supervision of
an Acceptable Biologist. Any hazards to tortoises created by this activity, such as drill
holes, open trenches, pits, other excavations, or any steep -sided depressions, shall be
checked three times a day for desert tortoises. These hazards shall be eliminated each
day prior to the work crew leaving the site, which may include installing a barrier that will
preclude entry by tortoises. Open trenches, pits or other excavations will be backfilled
within 72 hours, whenever possible. A 3:1 slope shall be left at the end of every open
trench to allow trapped desert tortoises to escape. Trenches not backfilled within 72 hours
shall have a barrier installed around them to preclude entry by desert tortoises. All
trenches, pits, or other excavations shall be inspected for tortoises by a biological monitor
trained and approved by the Acceptable Biologist prior to filling.
5
Appendix C
• If a desert tortoise is found, the biological monitor shall notify the Acceptable Biologist who
will remove the animal as soon as possible.
• Only burrows within the limits of clearing and surface disturbance shall be excavated.
Burrows outside these limits, but at risk from accidental crushing, shall be protected by
the placement of deterrent barrier fencing between the burrow and the construction area.
The barrier fence shall be at least 20 feet long and shall be installed to direct the tortoise
leaving the burrow away from the construction area. Installation and removal of such
barrier fencing shall be under the direction and supervision of the biological monitor.
• If blasting is necessary for construction, all tortoises shall be removed from burrows within
100 feet of the blast area.
Disposition of Sick, Injured, or Dead Specimens. Upon locating dead, injured, or sick desert
tortoises under any utility or road project, initial notification by the contact representative or
Acceptable Biologist must be made to the USFWS or CDFG within three (3) working days of its
finding. Written notification must be made within five (5) calendar days with the following
information: date; time; location of the carcass; photograph of the carcass; and any other pertinent
information. Care must be taken in handling sick or injured animals to ensure effective treatment
and care. Injured animals shall be taken care of by the Acceptable Biologist or an appropriately
trained veterinarian. Should any treated tortoises survive, USFWS or CDFG should be contacted
regarding the final disposition of the animals.
Fluvial Sand Transport. Activities, including O&M of facilities and construction of permitted new
projects, in fluvial sand transport areas in the Cabazon, Stubbe and Cottonwood Canyons, Snow
Creek/Windy Point, Whitewater Canyon, Whitewater Floodplain, Upper Mission Creek/Big
Morongo Canyon, Mission Creek/Morongo Wash, Willow Hole, Long Canyon, Edom Hill,
Thousand Palms, West Deception Canyon, and Indio Hills/Joshua Tree National Park Linkage
Conservation Areas will be conducted in a manner to maintain the fluvial sand transport capacity
of the system.
Le Conte's Thrasher. This measure does not apply to single-family residences and any non-
commercial accessory uses and structures including but not limited to second units on an existing
legal lot, or to O&M of Covered Activities. In modeled Le Conte's thrasher Habitat in all the
Conservation Areas, during the nesting season, January 15 - June 15, prior to the start of
construction activities, surveys will be conducted by an Acceptable Biologist on the construction
site and within 500 feet of the construction site, or to the property boundary if less than 500 feet.
If nesting Le Conte's thrashers are found, a 500 foot buffer, or to the property boundary if less
than 500 feet, will be established around the nest site. The buffer will be staked and flagged. No
construction will be permitted within the buffer during the breeding season of January 15 - June
15 or until the young have fledged.
Little San Bernardino Mountains Linanthus. This measure does not apply to single-family
residences and any non-commercial accessory uses and structures, including but not limited to
second units on an existing legal lot, or to O&M of Covered Activities. To avoid and minimize
impacts to this species as much as possible, the following avoidance and minimization effort shall
occur:
• Salvage: Salvage of top soil and/or seeds should occur prior to ground disturbance in
accordance with Section 6.6.1. Salvage should be conducted by or in cooperation with the
CVCC.
6
Appendix C
Mesquite Hummocks and Mesquite Bosque Natural Communities. This measure does not
apply to single-family residences and any non-commercial accessory uses and structures
including but not limited to second units on an existing legal lot, or to O&M of Covered Activities.
Construction activities in the Cabazon, Willow Hole, Thousand Palms, Indio Hills Palms, East
Indio Hills, Dos Palmas, Coachella Valley Stormwater Channel and Delta, and Santa Rosa and
San Jacinto Mountains Conservation Areas will avoid mesquite hummocks and mesquite bosque
to the maximum extent Feasible.
Palm Springs Pocket Mouse. To avoid impacts to the Palm Springs pocket mouse and its habitat
in the Upper Mission Creek/Big Morongo Canyon and Willow Hole Conservation Areas, Flood
Control -related construction activities will comply with the following avoidance and minimization
measures.
• Clearing: For construction that would involve disturbance to Palm Springs pocket mouse
habitat, activity should be phased to the extent feasible and practicable so that suitable
habitat islands are no farther than 300 feet apart at any given time to allow pocket mice to
disperse between habitat patches across nonsuitable habitat (i.e., unvegetated and/or
compacted soils). Prior to project construction, a biological monitor familiar with this
species should assist construction crews in planning access routes to avoid impacts to
occupied habitat as much as feasible (i.e., placement of preferred routes on project plans
and incorporation of methods to avoid as much suitable habitat/soil disturbance as
possible). Furthermore, during construction activities, the biological monitor will ensure
that connected, naturally vegetated areas with sandy soils and typical native vegetation
remain intact to the extent feasible and practicable. Finally, construction that involves
clearing of habitat should be avoided during the peak breeding season (approximately
March to May), and activity should be limited as much as possible during the rest of the
breeding season (January to February and June to August).
• Revegetation: Clearing of native vegetation (e.g., creosote, rabbitbrush, burrobush,
cheesebush) should be followed by revegetation, including natural reestablishment and
other means, resulting in habitat types of equal or superior biological value for Palm
Springs pocket mouse.
• Trapping/Holding: All trapping activity should be conducted in accordance with accepted
protocols and by a qualified biologist who possesses a Memorandum of Understanding
with CDFG for live -trapping of heteromyid species in Southern California.
• Translocation: Should translocation between distinct population groups be necessary, as
determined through the Adaptive Management and Monitoring Program, activity should
be conducted by a qualified biologist who possesses a Memorandum of Understanding
with CDFG for live -trapping of heteromyid species in Southern California. Trapping and
subsequent translocation activity should be conducted in accordance with accepted
protocols. Translocation programs should be coordinated by or conducted by the CVCC
and/or RMOC to determine the appropriate trapping, holding, marking, and handling
methods and potential translocation sites.
Peninsular Bighorn Sheep Habitat. Completion of Covered Activities in Peninsular bighorn
sheep Habitat in the Cabazon, Snow Creek/Windy Point, and Santa Rosa and San Jacinto
Mountains Conservation Areas will be conducted outside of the January 1 - June 30 lambing
season unless otherwise authorized through a Minor Amendment to the Plan with concurrence
from the Wildlife Agencies. O&M of Covered Activities, including but not limited to refinishing the
inside of water storage tanks, shall be scheduled to avoid the lambing season, but may extend
into the January 1 — June 30 period if necessary to complete the activity, upon concurrence with
the Wildlife Agencies.
7
Appendix C
For new projects in the above listed Conservation Areas, no toxic or invasive plant species may
be used for landscaping. For existing public infrastructure facilities which have landscaping in
Peninsular bighorn sheep Habitat in the Cabazon, Snow Creek/Windy Point, and Santa Rosa and
San Jacinto Mountains Conservation Areas, the Permittees who have such facilities will, with
respect to those facilities, develop and implement a plan and schedule to remove or prevent
access to oleander and any other plants known to be toxic to Peninsular bighorn sheep. The plan
and schedule will be prepared within one (1) year of Permit issuance.
Triple -ribbed milkvetch. This measure does not apply to single-family residences and any non-
commercial accessory uses and structures including but not limited to second units on an existing
legal lot, or to O&M of Covered Activities. It is understood that O&M for infrastructure developed
as part of a private development approved in compliance with the MSHCP that is later transferred
to a public entity is included as a Covered Activity. For Covered Activities within modeled triple -
ribbed milkvetch Habitat in the Whitewater Canyon, Whitewater Floodplain, Upper Mission
Creek/Big Morongo Canyon, and Santa Rosa and San Jacinto Mountains Conservation Areas,
surveys by an Acceptable Biologist will be required for activities during the growing and flowering
period from February 1 - May 15. Any occurrences of the species will be flagged and public
infrastructure projects shall avoid impacts to the plants to the maximum extent Feasible. In
particular, known occurrences on a map maintained by CVCC shall not be disturbed.
8
Appendix C
4.5 Land Use Adjacency Guidelines
The purpose of Land Use Adjacency Guidelines is to avoid or minimize indirect effects from
Development adjacent to or within the Conservation Areas. Adjacent means sharing a common
boundary with any parcel in a Conservation Area. Such indirect effects are commonly referred to
as edge effects, and may include noise, lighting, drainage, intrusion of people, and the
introduction of non-native plants and non-native predators such as dogs and cats. Edge effects
will also be addressed through reserve management activities such as fencing. The following
Land Use Adjacency Guidelines shall be considered by the Permittees in their review of individual
public and private Development projects adjacent to or within the Conservation Areas to minimize
edge effects, and shall be implemented where applicable.
4.5.1 Drainage
Proposed Development adjacent to or within a Conservation Area shall incorporate plans to
ensure that the quantity and quality of runoff discharged to the adjacent Conservation Area is not
altered in an adverse way when compared with existing conditions. Stormwater systems shall be
designed to prevent the release of toxins, chemicals, petroleum products, exotic plant materials
or other elements that might degrade or harm biological resources or ecosystem processes within
the adjacent Conservation Area.
4.5.2 Toxics
Land uses proposed adjacent to or within a Conservation Area that use chemicals or generate
bioproducts such as manure that are potentially toxic or may adversely affect wildlife and plant
species, Habitat, or water quality shall incorporate measures to ensure that application of such
chemicals does not result in any discharge to the adjacent Conservation Area.
4.5. Lighting
For proposed Development adjacent to or within a Conservation Area, lighting shall be shielded
and directed toward the developed area. Landscape shielding or other appropriate methods shall
be incorporated in project designs to minimize the effects of lighting adjacent to or within the
adjacent Conservation Area.
4.5.4 Noise
Proposed Development adjacent to or within a Conservation Area that generates noise in excess
of 75 dBA Leg hourly, as measured at the property line, shall incorporate setbacks, berms, or walls,
as appropriate, to minimize the effects of noise on the adjacent Conservation Area.
4.5.5 lnvasives
Invasive, non-native plant species shall not be incorporated in the landscape for land uses
adjacent to or within a Conservation Area. Landscape treatments within or adjacent to a
Conservation Area shall incorporate native plant materials to the maximum extent Feasible;
recommended native species are listed in Table 4-112. The plants listed in Table 4-113 shall not
be used within or adjacent to a Conservation Area. This list may be amended from time to time
through a Minor Amendment with Wildlife Agencies' concurrence.
9
Appendix C
4.5.6 Barriers
Land uses adjacent to or within a Conservation Area shall incorporate barriers in individual project
designs to minimize unauthorized public access, domestic animal predation, illegal trespass, or
dumping in a Conservation Area. Such barriers may include native landscaping, rocks/boulders,
fencing, walls and/or signage.
4.5.7 Grading/Land Development
Manufactured slopes associated with site Development shall not extend into adjacent land in a
Conservation Area.
10
Appendix C
Table 4-112: Coachella Valley Native Plants Recommended for Landscaping'
BOTANICAL NAME
COMMON NAME
Trees
Washingtonia filifera
California Fan Palm
Cercidium floridum
Blue Palo Verde
Chilopsis linearis
Desert Willow
Olneya tesota
Ironwood Tree
Prosopis glandulosa var. torreyana
Honey Mesquite
Shrubs
Acacia greggii
Cat's Claw Acacia
Ambrosia dumosa
Burro Bush
Atriplex canescens
Four Wing Saltbush
Atriplex lentiformis
Quailbush
Atriplex polycarpa
Cattle Spinach
Baccharis sergiloides
Squaw Water -weed
Bebia juncea
Sweet Bush
Cassia (Senna) covesii
Desert Senna
Condalia parryi
Crucilllo
Crossosoma bigelovii
Crossosoma
Dalea emoryi
Dye Weed
Dalea (Psorothamnus) schottii
Indigo Bush
Datura meteloides
Jimson Weed
Encelia farinosa
Brittle Bush
Ephedra aspera
Mormon Tea
Eriogonum fasciculatum
California Buckwheat
Eriogonum wrightii membranaceum
Wright's Buckwheat
Fagonia laevis
(No Common Name)
Gutierrezia sarothrae
Matchweed
Haplopappus acradenius
Goldenbush
Hibiscus denudatus
Desert Hibiscus
Hoffmannseggia microphylla
Rush Pea
Hymenoclea salsola
Cheesebush
Hyptis emoryi
Desert Lavender
Isomeris arborea
Bladder Pod
Juniperus californica
California Juniper
Krameria grayi
Ratany
Krameria parvifolia
Little -leaved Ratany
Larrea tridentate
Creosote Bush
Lotus rigidus
Desert Rock Pea
Lycium andersonii
Box Thorn
Petalonyx linearis
Long -leaved Sandpaper Plant
Petalonyx thurberi
Sandpaper Plant
Peucephyllum schottii
Pygmy Cedar
Prunus fremontii
Desert Apricot
Rhus ovata
Sugar -bush
Salazaria mexicana
Paper -bag Bush
Salvia apiana
White Sage
Salvia eremostachya
Santa Rosa Sage
Salvia vaseyi
Wand Sage
Simmondsia chinensis
Jojoba
11
Appendix C
BOTANICAL NAME
COMMON NAME
Sphaeralcia ambigua
Globemallow (Desert Mallow)
Sphaeralcia ambigua rosacea
Apricot Mallow
Trixis californica
Trixis
Zauschneria californica
California Fuchsia
Groundcovers
Mirabilis bigelovii
Wishbone Bush (Four O'Clock)
Mirabilis tenuiloba
White Four O'Clock (Thin -lobed)
Vines
Vitis girdiana
Desert Grape
Accent
Muhlenbergia rigens
Deer Grass
Herbaceous Perennials2
Adiantum capillus -veneris
Maiden -hair Fern (w)
Carex alma
Sedge (w)
Dalea parryi
Parry Dalea
Eleocharis montevidensis
Spike Rush (w)
Equisetum laevigatum
Horsetail (w)
Juncus bufonis
Toad Rush (w)
Juncus effuses
Juncus (w)
Juncus macrophyllus
Juncus (w)
Juncus mexicanus
Mexican Rush (w)
Juncus xiphioides
Juncus (w)
Notholaena parryi
Parry Cloak Fern
Pallaea mucronata
Bird -foot Fern
Cacti and Succulents
Agave deserti
Desert Agave
Asclepias albicans
Desert Milkweed (Buggy -whip)
Asclepias subulata
Ajamete
Dudleya arizonica
Live -forever
Dudleya saxosa
Rock Dudleya
Echinocereus engelmannii
Calico Hedgehog Cactus
Ferocactus acanthodes
Barrel Cactus
Fouquieria splendens
Ocotillo
Mamillaria dioica
Nipple Cactus
Mamillaria tetrancistra
Corkseed Cactus
Nolina parryi
Parry Nolina
Opuntia acanthocarpa
Stag-horn or Deer -horn Cholla
Opuntia bigelovii
Teddy Bear or Jumping Cholla
Opuntia basilaris
Beavertail Cactus
Opuntia echinocarpa
Silver or Golden Cholla
Opuntia ramosissima
Pencil Cholla, Darning Needle Cholla
Yucca schidigera
Mojave Yucca, Spanish Dagger
Yucca whipplei
Our Lord's Candle
Source: "Coachella Valley Native Plants, Excluding Annuals (0 ft. to approximately 3,000 ft. elevation)." Compiled by Dave
Heveron, Garden Collections Manager, and Kirk Anderson, Horticulturist, The Living Desert, May, 2000, for the Coachella
Valley Mountains Conservancy.
2 Common names for herbaceous perennials that are followed by "(w)" indicate a water or riparian species.
12
Appendix C
Table 4-113: Prohibited Invasive Ornamental Plants'
BOTANICAL NAME
COMMON NAME
Acacia spp. (all species except A. greggii)
Acacia (all species except native catclaw
acacia)
Arundo donax (✓)
Giant Reed or Arundo Grass
Atriplex semibaccata (✓)
Australian Saltbush
Avena barbata
Slender Wild Oat
Avena fatua
Wild Oat
Brassica tournefortii (✓✓)
African or Saharan Mustard
Bromus madritensis ssp. rubens (✓)
Red Brome
Bromus tectorum (✓✓)
Cheat Grass or Downy Brome
Cortaderia jubata [syn. C. atacamensis]
Jubata Grass or Andean Pampas Grass
Cortaderia dioica [syn. C. selloana]
Pampas Grass
Descurainia sophia
Tansy Mustard
Eichhornia crassipes
Water Hyacinth
Elaegnus angustifolia
Russian Olive
Foeniculum vulgare
Sweet Fennel
Hirschfeldia incana
Mediterranean or Short -pod Mustard
Lepidium latifolium
Perennial Pepperweed
Lolium multiflorum
Italian Ryegrass
Nerium oleander
Oleander
Nicotiana glauca (.1
Tree Tobacco
Oenothera berlandieri (#)
Mexican Evening Primrose
Olea europea
European Olive Tree
Parkinsonia aculeata (V)
Mexican Palo Verde
Pennisetum clandestinum
Kikuyu Grass
Pennisetum setaceum (✓/)
Fountain Grass
Phoenix canariensis (#)
Canary Island Date Palm
Phoenix dactylifera (#)
Date Palm
Ricinus communis (.1
Castorbean
Salsola tragus V)
Russian Thistle
Schinus molle
Peruvian Pepper Tree or California Pepper
Schinus terebinthifolius
Brazilian Pepper Tree
Schismus arabicus
Mediterranean Grass
Schismus barbatus (✓/)
Saharan Grass, Abu Mashi
Stipa capensis (✓✓)
No Common Name
Tamarix spp. (all species) (✓✓)
Tamarisk or Salt Cedar
Taeniatherum caput -medusae
Medusa -head
Tribulus terrestris
Puncturevine
Vinca major
Periwinkle
Washingtonia robusta
Mexican fan palm
Yucca gloriosa (#)
Spanish Dagger
Sources: California Exotic Pest Plant Council, United States Department of Agriculture -Division of Plant Health and Pest
Prevention Services, California Native Plant Society, Fremontia Vol. 26 No. 4, October 1998, The Jepson Manual; Higher
Plants of California, and County of San Diego Department of Agriculture.
Key to Table 4-113:
# indicates species not on CaIEPPC October 1999 "Exotic Pest Plants of Greatest Ecological Concern
in California" list
✓ indicates species known to be invasive in the Plan Area
✓✓ indicates particularly troublesome invasive species
13