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HomeMy WebLinkAboutItem 7a. Introduce an Ordinance amending Title 17 (Zoning Regulations) to provide a Downtown Flexible Density Program (CODE-0017-2023) Item 7a Department: Community Development Cost Center: 4003 For Agenda of: 3/21/2023 Placement: Public Hearing Estimated Time: 90 Minutes FROM: Michael Codron, Community Development Director Prepared By: Kyle Bell, Housing Coordinator and Ryan Tomlinson, Intern SUBJECT: INTRODUCE AN ORDINANCE AMENDING TITLE 17 (ZONING REGULATIONS) OF THE MUNICIPAL CODE TO IMPLEMENT HOUSING ELEMENT PROGRAM 2.15 AND POLICY 6.6 TO PROVIDE A DOWNTOWN FLEXIBLE DENSITY PROGRAM RECOMMENDATION Introduce an Ordinance entitled, “An Ordinance of the City Council of the City of San Luis Obispo, California, amending Title 17 (Zoning Regulations) of the Municipal Code to incorporate a Downtown Flexible Density Program for qualifying residential projects. Project is consistent with the previous Mitigated Negative Declaration for the 2018 Comprehensive Zoning Regulations Update (Downtown Flexible Density Program, CODE-0017-2023)” and adopt an Addendum to the previous environmental review determination. POLICY CONTEXT The proposed Downtown Flexible Density Program is intended to implement the City’s General Plan 6th Cycle Housing Element Program 2.151 and Policy 6.62. The program is also intended to implement policy objectives under the Land Use Element, Downtown Concept Plan, Access and Parking Management Plan, Active Transportation Plan, and Climate Action Plan (CAP) for Community Recovery. For more detailed information on the policy context of the Downtown Flexible Density Program see Attachment B (Policy Context Summary). 1 Housing Element Program 2.15: Evaluate a flexible density pilot program and initiate an update of the Zoning Regulations and Community Design Guidelines to incorporate flexible density development options in Downtown Core and portions of Upper Monterey and Mid-Higuera Special Focus Areas to support the production of 50 smaller residential units (150 to 600 square feet) per year during the planning period. 2 Housing Element Policy 6.6: Consistent with the City’s goal to stimulate higher density infill where appropriate in the Downtown, Upper Monterey, and Mid-Higuera Special Focus Areas, the City shall consider changes to the Zoning Regulations that would allow for flexible density standards that support the development of smaller apartments and efficiency units. Page 257 of 399 Item 7a REPORT-IN-BRIEF Updating the City of San Luis Obispo's Zoning Regulations (Municipal Code Title 17) to accommodate flexible density is a significant effort tied directly to the City's Major City Goal for Housing and Homelessness (2021-23 Major City Goal). The concept of the flexible density program was specifically identified throughout the 2020 Housing Element Update as an opportunity to incentivize housing production within the City’s urban core and support the production of smaller residential units (Program 2.15 & Policy 6.6). The main goals of the program are to help address the local housing demand by facilitating increased higher density residential infill development in the downtown area near employment centers, incentivizing smaller units, and diversifying the City’s housing stock. The Downtown Flexible Density Program offers housing developers more "flexibility" from standard density limitations, without imposing any increase to the scale or height of structures within the Downtown. To further promote the program, qualifying housing units constructed under the Program would be exempt from the City's Inclusionary Housing Requirements. In addition, reduced parking requirements are recommended for the area outside of the Downtown parking district boundaries, where parking requirements are already significantly reduced. DISCUSSION Background California is amid a housing crisis. Communities throughout the State are challenged with accommodating their fair share of housing production, many of which are exploring innovative solutions to that challenge. Housing is an essential element to a healthy downtown district. Providing for housing in the commercial core of a community generates a constant flow of foot traffic to support nearby retailers, services, restaurants, and other businesses. The concentrated mix of retail, office, and entertainment typical of a downtown locates residents within walking distance of most daily activities. The Downtown Flexible Density Program Incorporates a higher density of residential uses that creates a more vibrant, desirable downtown economy without changing restrictions for building height and scale. The concept of the alternative density thresholds for the City’s Downtown was first envisioned through the 2014 Land Use Element (Program 2.15). In 2018, as part of the Comprehensive Update to the City’s Zoning Regulations, the City’s consultant working on the update (MIG Consultants) provided a White Paper detailing the concept of Flexible Density. This concept was memorialized in the 2020 Housing Element Update as an opportunity to incentivize housing production within the City’s urban core and support the production of smaller residential units (Program 2.15 & Policy 6.6). The flexible density program was also specifically identified under the 2021-23 Major City Goals for Housing and Homelessness. Page 258 of 399 Item 7a Applicability The General Plan Land Use Element Figure 4 (Downtown Planning Area and Core) establishes the boundaries of the Downtown Core and Planning Area. The Downtown Core includes three zoning designations, Downtown Commercial (C-D), Retail Commercial (C-R), and Public Facilities (PF). It should be noted that not all C -D zoned properties are located within the Downtown Core (as shown in Figure 1 below). To qualify under the Downtown Flexible Density Program, a subject property will need to be located within the Downtown Core and within either the C-D or C-R zoning districts. Figure 1: Map of the Downtown Core Boundaries Page 259 of 399 Item 7a Program Overview The City’s existing development standards calculate residential capacity through fractional density allocations. While Density Units (du) are measured based on the area of a lot per acre (du/ac), the size of a dwelling unit is also a factor in the density allocation 3. Studio and one-bedroom dwellings less than 600 square feet are equal 0.50 du, while a 2-bedroom is equal to 1.0 du. Table 1 describes the residential capacity of an example property under existing density standards. Table 1 – Residential Capacity Under Existing Density Standards C-D or C-R zone Lot Area (sf*) Acres Density Allowance Available Density Maximum Number of Units Less than 600 sf Example Property 10,000 0.23 36 du/acre 8.26** 16 *sf = square feet **Density allocations round only to the nearest hundredth. As part of the Downtown Flexible Density Program, density standards are proposed to be reduced from 0.5 du to 0.0 du for qualifying dwelling units that are less than 600 square feet in size (limited to studio or one-bedroom configurations), within the Downtown Core. The limit to the number of qualifying units under the proposed program would be determined by existing development standards that establish the building area potential of a property which is commonly referred to as maximum Floor Area Ratios4 (FAR). Standards for building intensity for non-residential uses such as mixed-use, commercial, and industrial development are measured by FAR. FAR is the relationship between the total amount of usable floor area in a structure and the total area of the lot on which a structure is built. The higher the ratio, the greater intensity of development. In the case of mixed-use developments5, density standards are only applied to the residential component of a project, while FAR standards are applied to the entire struc ture or development on the property. Table 2 provides a summary of the applicable development standards for properties within the Downtown Core in addition to FAR limitations. 3 Municipal Code (MC) Section 17.70.040.A.1 – Density Calculation – General. Density Units are calculated based on the net area of a property subject to thresholds established per zone… different size dwellings have density unit values as follows: (a) Studio and one -bedroom dwellings less than 600 square feet = 0.50 unit; (b) One-bedroom dwellings between 601 and 1,000 square feet = 0.66 unit; (c) Two - bedroom dwelling = 1.00 unit; (d) Three-bedroom dwelling = 1.50 units; (e) Dwelling with four or more bedrooms = 2.00 units. 4 MC Section 17.158.017. F Definitions. Floor Area Ratio (FAR) The net floor area of a building or buildings on a lot divided by the lot area. 5 MC Section 17.156.028- Mixed-Use Development. A development that combines both nonresidential and residential uses, where residential uses are typically located above or behind the commercial. Page 260 of 399 Item 7a Table 2 – Existing Development Standards for the Downtown Core Development Standards C-D Downtown Commercial C-R Retail Commercial Maximum Density 36 du/acre Minimum Street Yard No street setback Minimum Other Yard As provided in zone of adjacent lot, or Edge Conditions Maximum Building Height 50-75 feet6 45 feet Maximum Floor Area Ratio 3.0 – 4.0 FAR; varies with building height7 3.0 FAR Maximum Lot Coverage 100% Minimum Lot Area (sf*) 3,000 9,000 Minimum Required Parking Half the requirement of Table 3-48 Table 3-4: Parking Requirements by Use *sf = square feet The proposed Program would modify the allocation of residential capacity from du/acre to FAR allowances of an individual property as the threshold for the maximum number of qualifying units. Table 3 outlines the example property’s residential capacity under the proposed Program for qualifying units with an average size of 550 square feet by using FAR (excluding building area reserved for ground floor commercial). Table 3 - Residential Capacity Under the Downtown Flexible Density Program C-D or C-R zone: Example Property Lot Area (sf*) 3.0 FAR (sf) Ground Floor Commercial (sf) Remaining Building Area (sf) Maximum Number of Units w/ Average size of 550 sf Existing Standards 10,000 30,000 10,000 20,000 16 units Proposed Change 10,000 30,000 10,000 20,000 36 units** * sf = square feet ** This example is intended to provide a simplification of the residential capacity of a property under the proposed Program and is not intended to represent the actual number of units that could be built on a property, which may be more limited due to Building Code Standards such as life safety and access requirements. 6 MC Section 17.32.020. Table 2-18 (C-D Zone Development Standards). Maximum Building Height. Maximum height may be increased up to 75 feet with the provision of defined community benefits, as set forth in Section 17.32.030.E (Maximum Building Height in C-D Zone). 7 MC Section 17.32.020. Table 2-18 (C-D Zone Development Standards). Floor Area Ratio. 3.0 – maximum allowed for buildings up to 50 feet in height. 3.75 – maximum allowed for buildings approved greater than 50 feet in height. 4.0 – maximum allowed for approved buildings over 50 feet in height with transfer of development credits for open space protection or historic preservation. See also Section 17.70.060 (FAR Measurement and Exceptions) 8 MC Section 17.72.030.D – Minimum Number of Spaces Required in the Downtown Core. the downtown-commercial (C-D) zone, the following parking standards and incentives shall apply: … (3) Residential uses, hotels and motels, and bed and breakfast inns: One-half that required in Table 3-4: Parking Requirements by Use. Page 261 of 399 Item 7a As described by Housing Element Program 2.15, the proposed Program is intended to incentivize the construction of smaller housing units within the City's Downtown Core. Specifically, the proposed Program includes incentives to increase residential density, partially reduce parking requirements, and exempt applicab ility of the Inclusionary Housing Ordinance for qualifying units. The program also expands ground floor residential use prohibition and clarifies density bonus applicability. Importantly, the program does not modify the recently implemented streamlined de velopment review process or modify any other site development standards that would affect building area. Finally, the proposed Program includes a sunset provision that is consistent with the 6th Cycle of the Housing Element. A summary of the key features of draft ordinance has been provided below for City Council’s consideration. Summary of Draft Ordinance Key Features: 1) Density Incentive. Reduce residential density standards from 0.5 du to 0.0 du for qualifying dwelling units that are less than 600 square feet in size (limited to studio or one-bedroom configurations), within the Downtown Core. Housing units larger than 600 square feet in size shall be subject to standard density requirements. 2) Ground Floor Uses. Prohibit residential dwellings on the ground floor for properties in the C-R zone within the Downtown Core to be consistent with existing development requirements in the C-D zone, to ensure the commercial character of the Downtown. 3) Applicability to Downtown Core. Establish the Downtown Core as the initial boundary for properties zoned C-D and C-R as eligible under the Program. 4) Parking Requirement Incentive. Reduced parking requirements in the C-R zoned portion of the Downtown Core for qua lifying dwelling units to match the current C-D zone parking requirements (1 space for every two units, plus 1 guest space for every 10 units). This parking reduction in the C-R zone would be limited only to qualifying units. All other units larger than 60 0 square feet, and all commercial areas shall be subject to standard parking requirements in the C-R zone. No changes are proposed to parking requirements in the C-D zone. Residents within the Downtown Core are eligible to participate in the Downtown Residential Overnight Parking Program. 5) Inclusionary Housing Exemption Incentive. Exempt qualifying dwelling units from Inclusionary Housing Requirements as an incentive for property owners and developers to increase the number of residential units within the Downtown Core under the Program. Standard Inclusionary Housing Requirements shall apply to units larger than 600 square feet, and all new commercial space. 6) Density Bonus Projects. Projects which include a request for a density bonus in accordance with Government Code Section 65915 (Density Bonus Law) are not eligible for the Downtown Flexible Density Program. Density Bonus Law provides developers with powerful tools to encourage the development of affordable housing. The Downtown Flexible Density Program is designed as an alternative option to promote housing production in the commercial core of the community. Developers may choose to pursue an application to address residential capacities through density bonus or flexible density, not both. Page 262 of 399 Item 7a Density Bonus and the Downtown Flexible Density Program provide similar objectives for increasing residential capacity, however, they are not compatible with one another. Staff does not recommend combining the two programs as the provisions that are afforded under the Downtown Flexible Density Program would be inconsistent with the provisions under Density Bonus Law, specifically regarding the elimination of applying density thresholds for units of less than 600 square feet. 7) Program Duration. Program is set to expire on January 1, 2029, consistent with the 6th Cycle Housing Element, or until 500 qualifying units are entitled or permitted under this program, whichever occurs first. This duration allows a measured approach for the program that allows opportunity to evaluate success in advance of setting the next stage of long-range land use and housing strategies. 8) Development Review Process. No changes to the development review process are proposed. 9) Site Development Standards (i.e. FAR, Lot Coverage, Setbacks, and Height). Other than density thresholds and parking requirements in the C-R zone, no other changes to development standards are proposed as part of the Program. 10) Vacation Rentals. Vacation Rentals9 have been prohibited in the City of SLO since 2007 (Ordinance No. 1500). In 2015, the City Council adopted the Homestay Rental Ordinance (Ordinance No. 1611), that allows an owner-occupied unit to rent out bedrooms for fewer than 30 consecutive days at a time, subject to the provisions under MC Section 17.86.160 (Homestay Rentals). Vacations rentals would continue to be prohibited under the Downtown Flexible Density Program, however, owner -occupied condominiums created through this program may be eligibl e for the Homestay program on a case-by-case basis, subject to discretionary review. The City is in contract with Host Compliance Services to identify and contact illegal vacation rentals and homestays throughout the community. Planning Commission Recommendation (Reduced Parking Requirements) On February 22, 2023, the Planning Commission (PC) reviewed the draft Downtown Flexible Density Program and unanimously recommended the City Council adopt the ordinance (Attachment D), with a recommendation for staff to explore options to reduce or remove parking requirements for qualifying units under the Program as a method to reduce housing costs (vote 4-0-2) (2.22.23 PC Report and Meeting Minutes). Response: The Program as presented to the PC did not include any changes to existing parking requirements for the development of properties within the Parking In-Lieu Fee District. However, staff is recommending that the parking requirements be reduced by half for qualifying units in the C-R zone, which is outside of the in-lieu fee district, for program consistency throughout the Downtown Core. 9 MC Section 17.156.044 (V Definitions). Vacation Rentals. A dwelling or part of a dwelling or recreational vehicle, where lodging is furnished for compensation for fewer than 30 consecutive days… Page 263 of 399 Item 7a As discussed during the PC hearing, there are challenges related to further decreasing the parking requirements for qualifying units under the program, specifically regarding the potential fiscal impact associated with properties subject to the Parking In -Lieu Fee District10. Based on the complete build-out of the 500 residential units under the Program there is an estimated increase in parking demand of between 100 – 200 parking spaces (under existing parking requirements) within the Parking In -Lieu Fee District boundaries. If property owners chose to provide parking through the In-Lieu Fee District rather than providing parking on-site, this could generate approximately $3.4 – $6.9 million11 in new revenues that would be dedicated for providing for the development or maintenance of parking facilities (e.g. Cultural Arts District Parking Structure). Removing or reducing parking requirements for properties within the In-Lieu Fee District would increase demand on the existing parking facilities and result in deficiencies of funding for new parking facilities and maintenance of existing facilities. In consideration of the 2023 Access and Parking Management Plan Strategy 1.B.3 “Evaluate the current parking in lieu fee program” was identified as a strategy to provide further evaluation of the effectiveness of th e In-Lieu Fee program and consider opportunities to allocate fees towards active transportation programs. Staff does not advise any additional reductions to parking requirements within the In -Lieu Fee program until a more detailed and comprehensive evaluation of the program is completed. In response to PC’s direction, staff is not recommending any further parking reductions for the program at this time. This is due to the loss of revenue to the City’s Parking Fund that has occurred over the last several yea rs from the effects of the pandemic, inflation, and rising construction costs. However, projects proposed within the Downtown Core can currently benefit from existing regulations that allow for discretionary parking reductions in accordance with MC Section 17.72.050.C (Other Parking Reductions)12. PUBLIC ENGAGEMENT According to the Public Engagement and Noticing (PEN) manual, the process for the ordinance adoption would typically fall under inform/consult because the program is specifically identified in the Housing Element as a Policy and Program, and included as a work program item in the 2021-23 Financial Plan Housing & Homelessness Major City Goal. 10 MC Section 4.30.015 (Parking In-Lieu Fee Area). Properties located within the area enclosed by a bold solid line on the parking in-lieu fee area map may pay parking in-lieu fees as established by council, in lieu of providing required on-site parking spaces as outlined in Sections 17.16.060 and 17.42.020 of this code. 11 The $3.4 - $6.9 million revenue range was identified by projecting between 33-66% of the 500-unit build- out of the Program to occur within the Parking In-Lieu Fee District and that new developments would take advantage of paying the in-lieu fee rather than providing parking on-site. 12 MC Section 17.72.050.C. Other Parking Reductions. Required parking for any use may be reduced by up to 10 percent through Director approval of a Director’s Action. Required parking may be reduced by more than 10 percent through Planning Commission approval. However, no reduction shall be ma de in addition to any reductions for shared parking permitted through subsection B (Shared Parking Reduction) of this Section, above. Page 264 of 399 Item 7a However, the public engagement approach for this program followed the consult/collaborate approach due to the sensitivity of downtown and interest in housing needs for the community. The engagement efforts are summarized below; a) Consultations were held with the Planning Division, Utilities Department, Transportation & Parking Divisions, for collaboration and coordination on the components of the Draft Ordinance. b) The Draft Ordinance was reviewed by the City’s Fire Department, Utilities Department, Building Division, Engineering Division, Parking Division, and Transportation Division. c) The Program was posted on Open City Hall to provide a community forum discussion regarding increasing housing opportunities downtown. The survey has received 304 responses (58% in favor, 42% opposed). All public comments and recommendations from the survey are summarized in Attachment C. d) A news release was published on January 23, 2023. Interviews have been provided for: The Tribune, Cal Poly Mustang News, New Times, KSBY, and the Agenda Breakdown podcast. e) Four stakeholder group interviews were conducted with 14 different interest groups. All stakeholder comments and recommendations are summarized in Attachment C. f) A presentation was provided for the Downtown Association (February 14th), the Chamber of Commerce (February 16th), the Regional Housing Team (February 16th), and the Developer’s Roundtable (March 1st) to introduce the concepts of the program and facilitate discussion. g) A public hearing was held by the Planning Commission (February 22nd) that received public input on the various components of the proposed program. A more detailed overview of the public engagement efforts is provided in Attachment C (Public Engagement Summary), which includes a summary of the ideas and suggestions that came from public engagement efforts as they pertain to the scope of the proposed Program. Listed below are additional suggestions and ideas that are not considered to be within the scope of this Program, although, they are included in other staff work-programs. a) Expand down payment assistance programs throughout the City (BEGIN Program). b) Expand the DROP program and provide discounts for low-income residents (included in approved Access and Parking Management Plan). c) Provide a bike share program (Included in Active Transportation Plan). d) Identify options for rental protection beyond State programs (Tenant Protection Act). e) Consider expanding No Net Loss Housing Programs (Chapter 17.142) to further prevent displacement of existing households. f) Create a local-preference homebuyer program (Housing Element Policy 6.7). Page 265 of 399 Item 7a Public notice of this hearing has been published in a widely circulated local newspaper, and hearing agendas for this meeting have been posted at City Hall, consistent with adopted notification procedures. Email notices have been provided for each public meeting to those on the interested parties list. CONCURRENCE Staff comments from Public Works, Utilities, Transportation, Parking, Fire, and Building and Safety, have been incorporated into the draft Downtown Flexible Density Program. It should be noted that all proposed residential projects must comply with all ob jective City policies, thresholds of significance, development standards, and design standards for all City departments as established in, but not limited to, the General Plan, City Standard Specifications and Engineering Standards, Building and Fire Code Requirements, Active Transportation Plan, Transportation Impact Study Guidelines, Climate Action Plan, Community Design Guidelines and the City’s Municipal Code. ENVIRONMENTAL REVIEW Pursuant to CEQA Guideline 15164, an addendum to the Initial Study / Ne gative Declaration for the Zoning Regulations Update (GENP -0327-2017) was prepared for the proposed Downtown Flexible Density Program (Attachment A, Exhibit A). The addendum concluded the following: i. Pursuant to Section 15162 of the State CEQA Guidelines, a subsequent environmental impact report is not required because: a) The project changes do not result in new or more severe environmental impacts, b) The circumstances under which the project is undertaken will not require major changes to the adopted Negative Declaration, and c) The modified project does not require any new mitigation measures. ii. The proposed Downtown Flexible Density Program, including proposed amendments identified in this Addendum, would make revisions, additions, corrections and clarifications to various sections of the Zoning Regulations to ensure consistency and successful implementation of the Housing Element. The proposed Downtown Flexible Density Program and associated amendments to Municipal Code Title 17 are consistent with the scope of the previously approved Comprehensive Zoning Regulations Update. iii. The changes are consistent with State Law, the City of San Luis Obispo Climate Action Plan, and the City of San Luis Obispo General Plan. Page 266 of 399 Item 7a FISCAL IMPACT Budgeted: Yes Budget Year: 2022-23 Funding Identified: Yes Funding Sources Total Budget Available Current Funding Request Remaining Balance Annual Ongoing Cost General Fund $N/A $ $ $ State Federal Fees Other: Total $ $ $ $ The implementation of Housing Element Programs was adopted as a part of the 2021 - 2023 Financial Plan. No additional Funding was allocated for implementation of Housing Element Program 2.15. However, all staff time and contract environmental review costs in the amount of approximately $60,000 required to develop the program are reimbursable through Senate Bill 2 (Building Homes and Job Act of 2017). ALTERNATIVES 1. Continue the Project. An action continuing the project should include direction to the staff on pertinent issues that need further consideration. 2. Modify the Project. Council could amend the draft ordinance by adding, modifying, or removing incentives or features of the program. Staff does not recommend modifications to the 500-unit limit or expanding the program boundaries, as these changes may require further environmental review. a. Change the project or program based on public input at the hearing. The Council should provide specific direction related to any changes requested by the public and agreed to by Council. Depending on the nature of changes, they can either be accommodated at the meeting or Council can continue the item to later date for further review. 3. Deny the Project. Council could direct staff not to pursue the Downtown Flexible Density Program. ATTACHMENTS A - Draft Ordinance approving a Downtown Flexible Density Program B - Policy Context Summary C - Public Engagement Summary D - Planning Commission Resolution No. 1070-23 Page 267 of 399 Page 268 of 399 O _____ ORDINANCE NO. _____ (2023 SERIES) AN ORDINANCE OF THE CITY COUNCIL OF THE CITY OF SAN LUIS OBISPO, CALIFORNIA, AMENDING TITLE 17 (ZONING REGULATIONS) OF THE MUNICIPAL CODE TO INCORPORATE A DOWNTOWN FLEXIBLE DENSITY PROGRAM FOR QUALIFYING RESIDENTIAL PROJECTS. PROJECT IS CONSISTENT WITH THE PREVIOUS MITIGATED NEGATIVE DECLARATION FOR THE 2018 COMPREHENSIVE ZONING REGULATIONS UPDATE (DOWNTOWN FLEXIBLE DENSITY PROGRAM, CODE-0017-2023) WHEREAS, on February 5, 2019, the City of San Luis Obispo adopted a comprehensive update of the Zoning Ordinance (2018 Zoning Ordinance); and WHEREAS, on November 17, 2020, the City Council of the City of San Luis Obispo conducted a public hearing in the Council Chamber of City Hall, 990 Palm Street, San Luis Obispo, California on November 17, 2020, for the purpose of final adoption of the sixth cycle update to the General Plan Housing Element that included Program 2.15 that states, “Evaluate a flexible density pilot program and initiate an update of the Zoning Regulations and Community Design Guidelines to incorporate flexible density development options in Downtown Core and portions of Upper Monterey and Mid- Higuera Special Focus Areas to support the production of 50 smaller residential units (150 to 600 square feet) per year during the planning period”; and WHEREAS, the 6th Cycle Housing Element includes Policy 6.6 that states, “Consistent with the City’s goal to stimulate higher density infill where appropriate in the Downtown, Upper Monterey, and Mid-Higuera Special Focus Areas, the City shall consider changes to the Zoning Regulations that would allow for flexible density standards that support the development of smaller apartments and efficiency units”; and WHEREAS, the Planning Commission of the City of San Luis Obispo conducted a public hearing in the Council Chamber of City Hall, 990 Palm Street, San Luis Obispo, California on February 22, 2023, for the purpose of considering the various amendments to Title 17 (Zoning Regulations) of the Municipal Code to implement the Downtown Flexible Density Program; and WHEREAS, the City Council of the City of San Luis Obispo conducted a public hearing in the Council Chamber of City Hall, 990 Palm Street, San Luis Obispo, California on March 21, 2023, for the purpose of considering the various amendments amendment to Title 17 (Zoning Regulations) of the Municipal Code to implement the Downtown Flexible Density Program; WHEREAS, the City Council finds that the proposed amendment is consistent with the General Plan, Zoning Regulations, and other applicable City goals and policies as amended; and WHEREAS, notices of said public hearing were made at the time and in the manner required by law. Page 269 of 399 Ordinance No. _____ (2023 Series) Page 2 O ______ WHEREAS, the City Council has duly considered all evidence, including the testimony of the applicant, interested parties, and the evaluation and recommendations by staff, presented at said hearing. NOW, THEREFORE, BE IT ORDAINED by the Council of the City of San Luis Obispo as follows: SECTION 1. Incorporation of Recitals. The City Council find that the foregoing recitals and administrative report presented with this ordinance are true and correct and are incorporated in the ordinance by this reference and adopted as the findings of the City Council. SECTION 2. Findings. Based upon all the evidence, the City Council makes the following finding: 1. The proposed amendments to Title 17 to implement the Downtown Flexible Density Program will not cause significant health, safety, or welfare concerns since the amendments are consistent with the General Plan and directly implement City goals and polices. 2. The proposed amendments to Title 17 of the Municipal Code are consistent with the 6th Cycle Housing Element Program 2.15 which states “Evaluate a flexible density pilot program and initiate an update of the Zoning Regulations and Community Design Guidelines to incorporate flexible density development options in Downtown Core and portions of Upper Monterey and Mid-Higuera Special Focus Areas to support the production of 50 smaller residential units (150 to 600 square feet) per year during the planning period.” 3. The proposed amendment to Title 17 of the Municipal Code are also consistent with the 6th Cycle Housing Element Policy 6.6 which states “Consistent with the City’s goal to stimulate higher density infill where appropriate in the Downtown, Upper Monterey, and Mid-Higuera Special Focus Areas, the City shall consider changes to the Zoning Regulations that would allow for flexible density standards that support the development of smaller apartments and efficiency units.” 4. The proposed amendment to Title 17 of the Municipal Code are also consistent with the Land Use Element Program 2.15 (Residential Densities) which states “The City will evaluate alternatives to the current maximum number of dwelling units per acre (based on bedroom count) and height, parking, and setback standards, to regulate residential building intensity, and bulk and mass. Floor area limits will be considered.” SECTION 3. Environmental Determination. Pursuant to CEQA Guideline 15164, an addendum to the Initial Study / Negative Declaration for the Zoning Regulations Update (GENP-0327-2017) was prepared for the proposed Downtown Flexible Density Program. The addendum concluded the following: Page 270 of 399 Ordinance No. _____ (2023 Series) Page 3 O ______ i. Pursuant to Section 15162 of the State CEQA Guidelines, a subsequent environmental impact report is not required because: a) The project changes do not result in new or more severe environmental impacts, b) The circumstances under which the project is undertaken will not require major changes to the adopted Negative Declaration , and c) The modified project does not require any new mitigation measures. ii. The proposed Downtown Flexible Density Program, including proposed amendments identified in this Addendum, would make revisions, additions, corrections and clarifications to various sections of the Zoning Regulations to ensure consistency and successful implementation of the Housing Element. The proposed Downtown Flexible Density Program and associated amendments to Municipal Code Title 17 are consistent with the scope of the previously approved Comprehensive Zoning Regulations Update. iii. The changes are consistent with State Law, the City of San Luis Obispo Climate Action Plan, and the City of San Luis Obispo General Plan. Based on the foregoing, the City Council does hereby adopt the Addendum to the Initial Study Negative Declaration that was prepared for the Comprehensive Zoning Regulations Update for the Downtown Flexible Density Program, as provided in Exhibit A. SECTION 4. Section 17.70.040.A.3, entitled “Maximum Residential Development Potential” is hereby amended to add a new subsection “a” entitled “Downtown Flexible Density Program”, and reads as follows: 3. Maximum Residential Development Potential. Maximum residential development potential shall be the net lot area (in whole and fractional acres), multiplied by the maximum density allowed (in density units per acre) according to Subsections A.1 through A.2, above. The resulting number (in density units, carried out to the nearest one hundredth unit) will be the maximum residential development potential. Any combination of dwelling types and numbers may be developed, so long as their combined density unit values do not exceed the maximum potential. a. Downtown Flexible Density Program. Properties zoned C-D or C-R within the Downtown Core may be developed at a residential density that is greater than the base density for the zone in which the lot is located, subject to the provisions outlined in Chapter 17.141 (Downtown Flexible Density Program). SECTION 5. Section 17.70.130.D.1.a, entitled “Ground Floor Limitations” is hereby amended to read as follows: Page 271 of 399 Ordinance No. _____ (2023 Series) Page 4 O ______ a. Ground Floor Limitations. In the Downtown Core (as shown in Section 17.141.020, Figure 8-1) and the C-D zone, residential units shall not occupy any ground floor space. In all other zones, residential units shall not occupy more than 50 percent of the ground floor space within th e first 50 feet of floor area measured from each building face adjacent to a street toward the rear of the building, with no more than 30 percent of the building frontage to be occupied by residential uses. SECTION 6. Section 17.138.020.A, is hereby amended to add a new subsection “8”, and reads as follows: A. This Chapter shall apply to all residential development projects, except the following types of residential development projects are exempt: 1. Residential additions, repairs, or remodels, provided that such work does not increase the number of existing dwellings; 2. The addition or inclusion of Accessory Dwelling Units (ADUs) or Junior Accessory Dwelling Units (JADUs) associated with an existing or proposed residential or mixed-use development; 3. Affordable housing projects in which 100 percent of the dwellings to be built will be sold or rented in conformance with the City’s Affordable Housing Standards (excluding any on-site manager unit); 4. Housing projects that include a density bonus. 5. Emergency projects or projects which the Council determines are necessary to protect public health and safety; 6. Development projects which the Director determines are essentially noncommercial or nonresidential in nature, which provide educational, social, or related services to the community and which are proposed by public agencies, nonprofit agencies, foundations, and other similar organizations; 7. Projects which replace or restore a structure damaged or destroyed by fire, flood, earthquake, or other disaster within three years prior to the application for the new structure(s) (see Chapter 17.92 Nonconforming Structure); 8. Residential units that qualify under the Downtown Flexible Density Program (see Chapter 17.141). SECTION 7. New Chapter 17.141, entitled “Downtown Flexible Density Program” is hereby added to Municipal Code Title 17 Article 8, to read as follows: Page 272 of 399 Ordinance No. _____ (2023 Series) Page 5 O ______ Chapter 17.141 – Downtown Flexible Density Program 17.141.010 – Purpose and Intent The provisions in this Chapter are intended to carry out a key program directed by the 2014 General Plan Land Use Element, and the 2020 Housing Element to implement the Downtown Flexible Density Program. The Program is intended to facilitate the construction of smaller housing units within the City’s Downtown Core by relaxing density limitations for qualifying units and providing development standard incentives. The Program will be in effect until January 1, 2029, or until 500 residential units have been entitled or permitted, whichever occurs first. 17.141.020 - Applicability The Downtown Flexible Density Program eliminates residential density requirements for units less than 600 square feet in size. Projects that qualify under this Chapter may be developed at a residential density that is greater than the base density for the zone in which the lot is located. A. Location. The Downtown Flexible Density Program shall only be available to properties zoned C-D or C-R within the Downtown Core as shown in the Figure 8- 1 (Downtown Core). B. Residential Units. The Downtown Flexible Density Program is limited to studio or one-bedroom units that are less than 600 square feet, all other residential units 600 square feet or larger shall conform to the standar d density limitations of the underlying zone. 1. The provisions of this Chapter shall not apply to projects that include a request for a density bonus in accordance with Section 17.140.040 (Standard Incentives for Housing Projects). Standard density limitations shall apply to any project that includes a request for a density bonus, in accordance with Section 17.70.040.A.1 (Density Calculation – General). Page 273 of 399 Ordinance No. _____ (2023 Series) Page 6 O ______ Figure 8-1: Downtown Core Page 274 of 399 Ordinance No. _____ (2023 Series) Page 7 O ______ 17.141.030 - Development Standards Incentives Applications submitted for review in accordance with this Chapter shall conform to all applicable development standards of the underlying zone, including but not limited to height, setbacks, floor area ratios, and building lot coverage, unless otherwise st ated in this Chapter or prohibited by state law. A. Residential Density. Residential units that are less than 600 square feet in size and limited to a studio or one-bedroom configuration may exceed the base density for the zone in which the lot is located, in accordance with all provisions of this Chapter. For the purposes of this Program, qualifying units shall have a density unit value of 0.0, rather than the standard 0.5 density unit. 1. Standard density limitations shall apply to all residential units that are larger than 600 square feet or include two or more bedrooms, in a ccordance with Section 17.70.040.A.1 (Density Calculation – General). B. Inclusionary Housing Exemption. Residential units less than 600 square feet that are of a studio or one-bedroom configuration shall be exempt from inclusionary housing requirements, as described in Section 17.138.040 (Inclusionary Housing Requirements), subject to the following: 1. Commercial Linkage fees shall apply (Municipal Code Chapter 4.60). 2. Residential units 600 square feet or larger shall be subject to the standard Inclusionary Housing Requirements (Chapter 17.138: Inclusionary Housing Requirements). C. Parking Requirements. Vehicle parking requirements shall be required in accordance with Chapter 17.72 (Parking and Loading), except as otherwise provided below; 1. Minimum Parking Requirements. Qualifying units under the Downtown Flexible Density Program shall require minimum parking rate of one-half that required in Table 3-4: Parking Requirements by Use. 17.141.040 - Review Procedures All new construction projects including additions or alterations to existing buildings that include new units that qualify under this Chapter shall be subject to the City’s discretionary development review process, unless otherwise exempt, as outlined in Chapter 17.106 (Development Review). 17.141.050 - Program Duration The Flexible Density Program shall have an initial duration consistent with the current Housing Element Cycle and expire on January 1, 2029, or until 500 new residential units are entitled or permitted under this program, whichever occurs first. A. Exclusion of Affordable Housing Units. Housing units that are deed restricted as affordable to moderate-income or below households, as defined in the City’s Below Market Rate Housing Standards, will not count towards the 500 -unit Program limit. Page 275 of 399 Ordinance No. _____ (2023 Series) Page 8 O ______ B. Pending Applications. Any application for new development that is deemed complete prior to the expiration of the Program term as established in this Section, may continue to be processed in accordance with this Chapter. SECTION 8. Chapter 17.142, entitled “Downtown Housing Conversion Regulations” Figure 8-1 (Downtown Planning Area and Downtown Core) is hereby relabeled as 8-2, respectfully, including all text references throughout Title 17. SECTION 9. Section 17.144.020, entitled “Standard Incentives for Housing Projects” subsection “D” is hereby amended to read as follows: D. Dwellings affordable and enforceably restricted to residents with extremely low, very low, low, or moderate incomes, as defined in the City’s General Plan Housing Element, new dwellings in the Ddowntown Ccore (C-D zone as shown on the official zoning map), and legally established accessory dwelling units shall be exempt from these regulations. Enforceably restricted shall mean dwellings that are subject to deed restrictions, development agreements, or other legal mechanisms acceptable to the City to ensure long-term affordability, consistent with City affordable housing standards. In expansion areas, the overall number of units built must conform to the City approved phasing plan. SECTION 10. Severability. If any subdivision, paragraph, sentence, clause, or phrase of this Ordinance is, for any reason, held to be invalid or unenforceable by a court of competent jurisdiction, such invalidity or unenforceability shall not affect the validity or enforcement of the remaining portions of this Ordinance, or any other provisions of the city's rules and regulations. It is the city's express intent that each remaining portion would have been adopted irrespective of the fact that any one or more subdivisions, paragraphs, sentences, clauses, or phrases be declared invalid or unenforceable . Page 276 of 399 Ordinance No. _____ (2023 Series) Page 9 O ______ SECTION 11. Implementation. A summary of this ordinance, together with the names of Council members voting for and against, shall be published at least five (5) days prior to its final passage in The New Times, a newspaper published and circulated in this City. This ordinance shall go into effect at the expiration of thirty (30) days after its final passage. INTRODUCED on the ____ day of ______, 2023, AND FINALLY ADOPTED by the Council of the City of San Luis Obispo on the ___ day of ___, 202 3, on the following vote: AYES: NOES: ABSENT: __________________________ Mayor Erica A. Stewart ATTEST: _______________________ Teresa Purrington City Clerk APPROVED AS TO FORM: ________________________ J. Christine Dietrick City Attorney IN WITNESS WHEREOF, I have hereunto set my hand and affixed the official seal of the City of San Luis Obispo, California, on ______________________. ___________________________ Teresa Purrington City Clerk Page 277 of 399 EXHIBIT A Addendum to the Initial Study/Mitigated Negative Declaration for the 2018 Zoning Regulations Update, San Luis Obispo, California FEBRUARY 2023 PREPARED FOR City of San Luis Obispo PREPARED BY SWCA Environmental Consultants Page 278 of 399 EXHIBIT A: Addendum to IS/MND for the 2018 Zoning Regulations Update 11 ADDENDUM TO THE INITIAL STUDY/MITIGATED NEGATIVE DECLARATION FOR THE 2018 ZONING REGULATIONS UPDATE, SAN LUIS OBISPO, CALIFORNIA Prepared for City of San Luis Obispo 919 Palm Street San Luis Obispo, CA 93401 Attn: Kyle Bell, Housing Coordinator Prepared by SWCA Environmental Consultants 1422 Monterey Street, Suite C200 San Luis Obispo, CA 93401 (805) 543-7095 www.swca.com SWCA Project No. 71167.04 February 2023 Page 279 of 399 EXHIBIT A: Addendum to IS/MND for the 2018 Zoning Regulations Update i CONTENTS Introduction ..................................................................................................................... 2 Purpose of Addendum ..................................................................................................... 2 Project Revisions ............................................................................................................ 4 Minor Technical Changes to the MND............................................................................. 5 Basis for Addendum ...................................................................................................... 14 Page 280 of 399 EXHIBIT A: Addendum to IS/MND for the 2018 Zoning Regulations Update INTRODUCTION On February 5, 2019, the City of San Luis Obispo (City) adopted a Mitigated Negative Declaration (MND; State Clearing House [SCH] #2013121019) for the Zoning Regulations Update (project) and approved revisions to the Zoning Regulations that were focused on implementation of the policies and programs in the City’s General Plan Land Use and Circulation Element (LUCE). Specifically, the revisions included specifying density for dwelling units less than 600 square feet in size as 0.50 density units, consistent with LUCE Policies 2.15 and 4.28. Since the Zoning Regulations update was consistent with the 2014 LUCE, the MND tiered with and incorporated, by reference, the City’s previously certified Program Final Environmental Impact Report (September 2014; FEIR; SCH #2013121019) prepared for the LUCE pursuant to State CEQA Guidelines Sections 15150, 15152, and 15168. The City is now seeking minor revisions from what was analyzed in the MND to amend the Zoning Regulations and revise the density for dwelling units less than 600 square feet in size that are in the Downtown Core from 0.50 density units to 0.00 density units (see discussion below). The project would apply to the Downtown Core (as identified in the LUCE) on parcels zoned C-D (Downtown Commercial) and C-R (Retail Commercial), see Figure 1 below. PURPOSE OF ADDENDUM Pursuant to Section 21166 of CEQA and Section 15162 of the State CEQA Guidelines, when a lead agency has adopted an MND for a project, a subsequent MND does not need to be prepared for the project unless the lead agency determines that one or more of the following conditions are met: 1. Substantial project changes are proposed that will require major revisions of the previous MND due to the involvement of new significant environmental effects or a substantial increase in the severity of previously identified significant effects; 2. Substantial changes would occur with respect to the circumstances under which the project is undertaken that require major revisions to the previous MND due to the involvement of new significant environmental effects or a substantial increase in the severity of previously identified significant effects; or 3. New information of substantial importance that was not known and could not have been known with the exercise of reasonable diligence at the time the previous MND was adopted shows any of the following: a. The project will have one or more significant effects not discussed in the previous MND; b. Significant effects previously examined will be substantially more severe than identified in the previous MND; c. Mitigation measures or alternatives previously found not to be feasible would in fact be feasible, and would substantially reduce one or more significant effects of the project, but the project proponent declines to adopt the mitigation measures or alternatives; or d. Mitigation measures or alternatives that are considerably different from those analyzed in the previous MND would substantially reduce one or more significant effects on the environment, but the project proponent declines to adopt the mitigation measures or alternatives. Page 281 of 399 EXHIBIT A: Addendum to IS/MND for the 2018 Zoning Regulations Update Figure 1. Downtown Core and Downtown Planning Area Page 282 of 399 EXHIBIT A: Addendum to IS/MND for the 2018 Zoning Regulations Update Preparation of an Addendum to an MND is appropriate when none of the conditions specified in Section 15162 (above) are present and some minor technical changes to the previously adopted MND are necessary (see discussion below). PROJECT REVISIONS The MND analyzed revisions to the Zoning Regulations that included changing the City’s bedroom density approach and establishing a minimum density unit count in multi-unit zones. Studio and one-bedroom dwelling units less than 600 square feet in size (in all zones except AG, C/OS, and R-1), were assigned a density unit value of 0.50 (i.e., if a parcel has a maximum density allowance of 4, up to 8 units less than 600 square feet in size could be built). The City now proposes to revise the density unit value of dwellings less than 600 square feet in size in the Downtown Core from 0.50 density units to 0.00 density units to facilitate the implementation of LUCE Policy 4.28, which calls for variable density and efficiency units1 in the downtown. The City uses floor-area-ratio (FAR) to regulate the intensity of uses through a combination of height and lot coverage standards. The existing maximum FAR in the C-D zone is 3.0 for structures up to 50 feet tall, 3.75 for structures over 50 feet tall, and 4.0 for structures over 50 feet tall that either include a transfer of development credits for open space or historic preservation. The existing maximum FAR in the C-R zone is 3.0. The existing height limit in the C-D zone is 50 feet, or up to 75 feet with approval of a use permit from the Planning Commission contingent upon performance standards described in Section 17.32.030 of the Zoning Regulations. The maximum allowed lot coverage in the C-D zone is 100 percent. The existing height limit in the C-R zone is 45 feet. The proposed revision would alter the traditional allocation of residential capacity in the Downtown Core away from density units per acre and only rely on the FAR allowances of individual parcels as the threshold for the maximum number of units less than 600 square feet (limited to a studio or one-bedroom configuration). Standard density limitations would apply for all units larger than 600 square feet. By relying on the FAR rather than density units per acre, a parcel could have greater flexibility in the number of qualifying units within the footprint of the structure. Residential uses on the ground floor would still be prohibited in the C-D zone due to the existing flood zone restrictions. The proposed revisions would not alter FAR, height, or lot coverage standards. Based on the City’s Housing Element Development Capacity Calculation (Appendix E), and assuming an average 50% floor-area-ratio (FAR) dedicated toward residential uses, the maximum additional buildout capacity of the Downtown Core would be approximately 1,000 units, which would likely be single or double occupancy units. However, the draft ordinance proposes to limit the program to 500 units. 1 Efficiency units are defined by Health and Safety Code Section 17958.1 and are units that are a minimum of 150 square feet in size that may also have partial kitchen and bathroom facilities. Page 283 of 399 EXHIBIT A: Addendum to IS/MND for the 2018 Zoning Regulations Update MINOR TECHNICAL CHANGES TO THE MND Aesthetics. The MND determined potential impacts resulting from the implementation of the Zoning Regulations Update may include blockage of views by construction equipment and staging areas; disruption of views by temporary signage; exposure of slopes and removal of vegetation; structural development within identified scenic areas; and view blockages by new structures, signs, and parking areas. The proposed density revisions would not alter the height, FAR, lot coverage, or design guideline standards and would not result in new development where such development is currently prohibited. No new or more significant aesthetic impacts beyond what was identified in the MND would occur and no new mitigation measures are required. Agriculture. The MND determined that buildout of the City pursuant to the Zoning Regulations Update would facilitate the development and redevelopment of residential uses in areas of the city near agricultural areas. The proposed density revisions would apply only to the Downtown Core and would not apply to land designated for agriculture or to land that is near agriculture areas. No new or more significant agriculture impacts beyond what was identified in the MND would occur and no new mitigation measures are required. Air Quality. The MND citing the 2014 LUCE FEIR identified inconsistencies with the assumptions used in the San Luis Obispo Air Pollution Control District’s (SLOAPCD’s) Climate Action Plan (CAP). This change was determined to be significant and unavoidable and a statement of overriding considerations was adopted by the City Council. The MND did not identify any new or more significant CAP consistency impacts beyond what was identified in the 2014 LUCE FEIR and no mitigation measures were required. The proposed density revisions would exceed the population growth projections of the SLOAPCD CAP as the density is higher than what was accounted for. However, this impact was considered in the MND and the proposed density revisions would not substantially increase this projection (500 new units). No new or more significant SLOAPCD CAP consistency impacts would occur beyond what was identified in the MND, and no new mitigation measures are required. The MND determined that future development projects proposed under the Zoning Regulations Update would require construction activity resulting in the generation of criteria air pollutants and ozone precursor emissions. The MND cited the 2014 LUCE FEIR which determined that adherence to relevant policies and implementation of SLOAPCD‐recommended project‐specific mitigation measures would reduce potential impacts associated with future development under the proposed Zoning Regulations Update to a less‐than‐significant level. The MND did not identify any new or more significant construction-related air pollutant emissions impacts beyond what was identified in the 2014 LUCE FEIR and no mitigation measures were required. The proposed density revisions would not increase the total potential development of a parcel, which would still be governed by FAR, height, and lot coverage standards. No new or more significant construction-related air quality impacts would occur beyond what was identified in the MND, and no new mitigation measures are required. The MND determined that future development projects proposed under the Zoning Regulations Update would involve the operation of development projects that would generate long-term emissions of criteria pollutants and ozone precursors. However, the MND also noted that consistent with the LUCE, the Zoning Regulations Update may result in beneficial environmental impacts on air quality by developing incentives in the Downtown area to reduce the use of cars, including provisions that would allow for corner stores in residential areas, further allowing upper- story residential uses in commercial areas, providing for an enhanced pedestrian experience in the Downtown, providing additional dwelling units within medium to high residentially-zoned Page 284 of 399 EXHIBIT A: Addendum to IS/MND for the 2018 Zoning Regulations Update areas, maintaining rural character and protecting natural resource areas, incorporating further sustainability standards into land use regulations, and adjusting parking requirement to achieve multi-modal objectives identified in the General Plan. The MND did not identify any new or more significant construction-related air pollutant emissions impacts beyond what was identified in the 2014 LUCE FEIR and no mitigation measures were required. The proposed density revisions would implement an incentive to reduce the use of cars by providing additional residential uses in the Downtown Core, in proximity to shopping, dining, transportation, and recreation, which may result in a beneficial environmental impact to air quality. No new or more significant operational air quality impacts beyond what was identified in the MND would occur and no new mitigation measures are required. The MND determined that the Zoning Regulations Update would not result in the exposure of sensitive receptors to substantial sources of local carbon monoxide concentrations, toxic air contaminants, or odors, based on the 2014 LUCE FEIR, because the Zoning Regulations Update would occur in areas of the City that were assessed in the 2014 LUCE FEIR. The proposed density revisions would not result in the placement of new sensitive receptors closer to existing sources of air pollution in comparison to existing conditions. No new or more significant impacts beyond what was identified in the MND would occur and no new mitigation measures are required. Biological Resources. The MND determined that future development pursuant to the Zoning Regulations Update would be required to comply with local, state, and federal laws and policies, and all applicable permitting requirements of the regulatory and oversight agencies intended to address potential impacts to special‐status wildlife species. The MND determined that implementation of local policies, as well as compliance with state and federal laws and policies and the requirements of regulatory and oversight agencies as appropriate, and reliance on establishment of project‐specific mitigation measures where appropriate would reduce potential impacts to a less than significant level. The proposed density revisions would apply to the Downtown Core, which is a largely built-up area with little remaining native habitat. San Luis Obispo Creek flows in a man-made channel and through a concrete tunnel beneath downtown San Luis Obispo emerging near Mission San Luis Obispo de Tolosa. Future development resulting from the proposed revisions would be subject to creek setback requirements and performance standards identified in the Zoning Regulations. Additionally, Conservation and Open Space Element (COSE) Policy 7.3 requires that projects within or adjacent to known occurrences of Natural Communities of Special Concern, or in areas that have potential to contain one or more of these habitats, to have a site-specific biology report prepared and undergo individual project environmental review to determine the location, extent, and proposed impact to those habitats. No new impacts to biological resources beyond what was identified in the MND would occur and no new mitigation measures are required. Cultural Resources. The MND, citing the 2014 LUCE FEIR, determined that development facilitated under the LUCE and Zoning Regulations Update could have an adverse impact on historical structures by damaging or destroying historical buildings or structures, diminishing the integrity of the context and setting of individual properties, or diminishing the integrity of the historical district. The loss of historic buildings or new developments within the existing historic districts that could impact historical resources was considered potentially significant. However, the policies and programs identified in the LUCE and COSE, the City’s Historic Preservation Ordinance, Historic Preservation Program Guidelines, Historic Context Statement, the City‐ designated Cultural Heritage Committee (CHC) policies and guidelines, and compliance with CEQA would directly address this impact. The MND did not identify any new or more significant impacts on historical resources beyond what was analyzed in the 2014 LUCE FEIR. The proposed Page 285 of 399 EXHIBIT A: Addendum to IS/MND for the 2018 Zoning Regulations Update density revisions would not make any changes to the LUCE and COSE, the City’s Historic Preservation Ordinance, Historic Preservation Program Guidelines, Historic Context Statement, or the City‐designated Cultural Heritage Committee (CHC) policies and guidelines and would not allow new development in areas not contemplated by the LUCE or Zoning Regulations Update. No new impacts to historical resources beyond what was identified in the MND would occur and no new mitigation measures are required. The MND determined that development facilitated under the Zoning Regulations Update would result in impacts to archeological and paleontological resources and human remains. This impact was determined to be less than significant with the adherence to the City’s Archaeological Resource Preservation Program Guidelines and compliance with federal and state regulations. The MND did not identify any new or more significant impacts on archaeological and paleontological resources or human remains beyond what was analyzed in the 2014 LUCE FEIR. The proposed density revisions would not make any changes to the LUCE and COSE, the City’s Historic Preservation Ordinance, Historic Preservation Program Guidelines, Historic Context Statement, or the City‐designated Cultural Heritage Committee (CHC) policies and guidelines and would not allow new development in areas not contemplated by the LUCE or Zoning Regulations Update. No new impacts to archaeological and paleontological resources or human remains beyond what was identified in the MND would occur and no new mitigation measures are required. Geology and Soils. The MND, citing the 2014 LUCE FEIR, determined that compliance with the California Building Code and the City’s General Plan would reduce geologic and seismic impacts to less than significant. The MND did not identify any new or more significant impacts on geological resources beyond what was analyzed in the 2014 LUCE FEIR. The proposed density revisions would not allow new development in areas not contemplated by the LUCE or Zoning Regulations Update. No new impacts to geological resources beyond what was identified in the MND would occur and no new mitigation measures are required. Greenhouse Gas Emissions. The MND determined that the Zoning Regulations Update will be one of the principal tools for implementing the LUCE and will advance greenhouse gas reduction goals as mandated by the State (AB32, SB375) and the City’s CAP. The Zoning Regulations Update facilitates the development of a sustainable, multi-modal community to reduce per capita vehicle miles traveled (VMT) and greenhouse gas (GHG) emissions through increased design standards, new design guidelines, and the imposition of general site regulations. New strategies in the updated Zoning Regulations include:  As an incentive for increased height in the C-D zone and a community benefit for a PD overlay, having a developer provide net-zero energy construction features  Reducing the allowable pervious surface coverage in front yards of R-1 zones from 50 percent to 40 percent  As an incentive for increased height in the C-D zone and a community benefit for a PD overlay, requiring a Transportation Demand Management (TDM) program that achieves measurable 20 percent mode shift and that is covenanted for long-term implementation  Allowing shared car services (e.g., ZipCar) spaces to be located in developments without increased parking requirements  Parking requirements for alternative clean fuel vehicles  Requirements for showers, lockers and changing rooms for large developments Page 286 of 399 EXHIBIT A: Addendum to IS/MND for the 2018 Zoning Regulations Update The MND did not identify any new or more significant impacts on GHG emissions beyond what was analyzed in the 2014 LUCE FEIR. The proposed density revisions would not allow new development in areas not contemplated by the LUCE or Zoning Regulations Update and would not change existing GHG policies of the City’s CAP or LUCE. No new GHG impacts beyond what was identified in the MND would occur and no new mitigation measures are required. Hazards and Hazardous Materials. The MND determined that allowing residential development in areas of commercial use or previous commercial use could expose occupants or construction workers to potentially hazardous materials including asbestos-containing materials and lead- based paint, but that compliance with LUCE and the Climate Adaptation and Safety Element (CASE) policies, City Demolition and Moving of Buildings Section 115 Public Safety Requirements, and state and federal regulations would reduce impacts to less than significant. The MND did not identify any new or more significant impacts related to hazards and hazardous materials beyond what was analyzed in the 2014 LUCE FEIR. The proposed density revisions would not allow new development in areas not contemplated by the LUCE or Zoning Regulations Update and would not introduce residential uses in proximity to hazards beyond what was contemplated in the MND. No new impacts related to hazards and hazardous materials beyond what was identified in the MND would occur and no new mitigation measures are required. Hydrology and Water Quality. The MND determined that potential development associated with the Zoning Regulations Update could result in the pollution of natural watercourses and/or underground aquifers. However, impacts were determined to be less than significant with the mandatory compliance of General Plan policies and the City’s Stormwater Quality Ordinance. The MND did not identify any new or more significant impacts related to hydrology and water quality beyond what was analyzed in the 2014 LUCE FEIR. The proposed density revisions would not allow new development in areas not contemplated by the LUCE or Zoning Regulations Update and would not increase the total development potential of a parcel, which currently allows 100% lot coverage. No new impacts related to pollution of natural watercourses and/or underground aquifers beyond what was identified in the MND would occur and no new mitigation measures are required. The MND determined that the Zoning Regulations Update has the potential to increase the amount of impervious surface within the City, which could result in a decrease in percolation to the groundwater basin, the alteration of drainage patterns, and increases in the volume of surface runoff. Adherence to the City’s General Plan and compliance with the City’s Storm Water Management Program and Drainage Design Manual was determined to be adequate to reduce impacts from additional impervious surfaces to less than significant. The proposed density revisions would not allow new development in areas not contemplated by the LUCE or Zoning Regulations Update and would not increase the total development potential of a parcel, which currently allows 100% lot coverage. No new impacts related to additional impervious surfaces beyond what was identified in the MND would occur and no new mitigation measures are required. The MND determined that future development resulting from the Zoning Regulations Update could result in new development within a 100-year floodplain and introduce structures in areas that could impede or redirect flood flows. Adherence to the City’s Floodplain Management Zone Regulations, the Waterway Management Program, the Drainage Design Manual, and the Stream Management and Maintenance Program was determined to be sufficient to ensure that impacts from flooding remain less than significant. The proposed density revisions would not allow new development in areas not contemplated by the LUCE or Zoning Regulations Update and would not increase the total development potential of a parcel, which currently allows 100% lot coverage. No new impacts related to flooding beyond what was identified in the MND would occur and no new mitigation measures are required. Page 287 of 399 EXHIBIT A: Addendum to IS/MND for the 2018 Zoning Regulations Update Land Use/Planning. The MND determined that the update to the Zoning Regulations would not result in the division of the community. The proposed density revisions would not allow new development in areas not contemplated by the LUCE or Zoning Regulations Update and would introduce new uses or infrastructure that could divide a community. No new impacts related to additional impervious surfaces beyond what was identified in the MND would occur and no new mitigation measures are required. The MND, citing the 2014 LUCE FEIR, determined that the Zoning Regulations Update would make the Zoning Regulations consistent with the LUCE by including standards and requirements that: facilitate protection of the environment, including hillsides, creeks, surface and groundwater, soils, and air quality; include development and redevelopment standards that support a well- balanced community; and maintain and where appropriate adapt the City form to preserve open space, create compact, mixed-use neighborhoods that locate housing, jobs, recreation, and other daily needs in close proximity to one another, protect the quality of life in established neighborhoods through compliance with proposed edge conditions regulations, and encouraging multi-modal transportation. Impacts related to environmental policy consistency were determined to be less than significant. The proposed density revisions would not allow new development in areas not contemplated by the LUCE or Zoning Regulations Update. Future land uses that occur pursuant to the proposed density revisions would be required to conform to all applicable regulations and standards of the updated Zoning Regulations and the LUCE. No new impacts related to additional environmental policy consistency beyond what was identified in the MND would occur and no new mitigation measures are required. Mineral Resources. The MND determined that there are no mineral resource recovery sites within the city and that implementation of the Zoning Regulations Update would have no impact on mineral resources. The proposed density revisions would not be located in areas of the city no contemplated by the Zoning Regulations Update. No new impacts related to mineral resources would occur, there would be no impact, and no new mitigation measures are required. Noise. The MND, citing the 2014 LUCE FEIR, determined that development constructed pursuant to the Zoning Regulations Update would result in construction activities that could generate noise levels that exceed the standards of the City’s Noise Control Ordinance. This impact was determined to be significant and unavoidable and a statement of overring considerations was adopted by the City Council. The MND did not identify any new or more significant construction noise impacts beyond what was identified in the 2014 LUCE FEIR and no mitigation measures were required. The proposed density revisions would not allow construction in areas not contemplated by the LUCE or Zoning Regulations Update and would not increase the construction potential of a property which would still be governed by FAR, height, and lot coverage standards. No new impacts related to noise beyond what was identified in the MND would occur and no new mitigation measures are required. The MND determined that consistent with the analysis and conclusions in the 2014 LUCE FEIR, implementation of the Zoning Regulations Update would result in increased traffic volumes and associated noise levels along major transportation routes. New development associated with the Zoning Regulations Update could also result in the siting of new sensitive receptors in close proximity to transportation noise sources such as major roadways and the railroad, with the potential to exceed the land use compatibility and transportation noise exposure standards in the existing Noise Element. Future development is required to comply with the City Noise Element and Noise Control Ordinance which require site-specific mitigation for development; therefore, impacts were determined to be less than significant. The proposed density revisions would not allow construction in areas not contemplated by the LUCE or Zoning Regulations Update and Page 288 of 399 EXHIBIT A: Addendum to IS/MND for the 2018 Zoning Regulations Update would not increase the construction potential of a property which would still be governed by FAR, height, and lot coverage standards. No new impacts related to transportation noise beyond what was identified in the MND would occur and no new mitigation measures are required. The MND, citing the 2014 LUCE FEIR, determined that the Zoning Regulations Update could facilitate development that would increase stationary source noise levels exceeding the thresholds of the City’s Noise Element and Noise Control Ordinance. Noise Element policies and standards would require all future development to comply with the City’s adopted noise standards, noise mitigation procedures, and sensitive land use siting policies, including site‐specific noise studies and mitigation measures, if necessary, to ensure that the development meets noise thresholds. Because the City’s Noise Element contains policies and programs that address and mitigate potential site‐specific impacts for individual projects, this impact was determined to be less than significant. The proposed density revisions would not allow construction in areas not contemplated by the LUCE or Zoning Regulations Update, would not increase the construction potential of a property that would still be governed by FAR, height, and lot coverage standards, and would not alter the policies and standards governing noise. No new impacts related to stationary source noise beyond what was identified in the MND would occur and no new mitigation measures are required. Population/Housing. As documented in the 2014 LUCE FEIR, as of January 2013, the City has a population of 45,541, and is expected to have a population increase of 4,613 people by 2035. LUCE Policy 1.11.2 Residential Growth Rate, states that the City shall manage the growth of the city's housing supply so that it does not exceed one percent per year, on average, based on thresholds established by Land Use Element Table 3 [One Percent City Population Growth Projection]. Because of the annual growth rate limitation, impacts were determined to be less than significant. The MND did not identify any new or more significant impacts on the population beyond what was identified in the 2014 LUCE FEIR and no mitigation measures were required. Based on the 2021 General Plan Annual Report, the City has maintained a 0.81 percent growth rate since 2015. Housing in the Downtown Core (C-D Zone) is exempt from the City’s Residential Growth Ordinance, so the potential increase in residential units would not be in conflict with the General Plan. The proposed density revisions would positively impact the jobs-to-housing ratio within the City, which is consistent with LUCE Policy 1.5 which states that the City’s housing stock should keep pace with the growth in employment so that the jobs-housing balance would not worsen. The proposed density revisions would not result in new or more significant impacts beyond what was identified in the MND and no new mitigation measures are required. The MND determined that the Zoning Regulations Update would not result in a loss of housing or displace existing residents. Housing Element Program 3.10 states that “continue to encourage the creation of dwellings in the Downtown Core (C-D Zone) and the Downtown Planning Area by continuing the "no net housing loss" program, consistent with Chapter 17.86 (Downtown Housing Conversion Regulations) of the Zoning Regulations”. The Zoning Regulations Update retained the statement that “development projects within the Downtown Planning Area shall not result in a net housing loss.” The MND did not identify any new or more significant impacts beyond what was identified in the 2014 LUCE FEIR and no mitigation measures were required. The proposed density revisions would not alter the no net loss requirements of the Zoning Regulations or Housing Element. No new or more significant impacts beyond what was identified in the MND would occur and no new mitigation measures are required. Page 289 of 399 EXHIBIT A: Addendum to IS/MND for the 2018 Zoning Regulations Update Public Services. Fire. The MND cited the 2014 LUCE FEIR, which determined that new residential development facilitated by the LUE would place additional service demands on the San Luis Obispo Fire Department (SLOFD) and that the increased service demands would have the potential to result in a significant environmental impact if new or physically altered fire service facilities would be required to ensure that the City’s four-minute response standard was achieved. Mitigation was identified in the 2014 LUCE FEIR that the Safety Element be updated to include policy so that new development can only be approved when adequate fire services and facilities are available or would be made available by the new development. The MND did not identify any new or more significant impacts to fire services beyond what was identified in the 2014 LUCE FEIR and no mitigation measures were required. The Safety Element was recently updated in 2023 as the Climate Adaptation and Safety Element (CASE) which includes Policy FI-5.3 (City-Wide Fire- Smart New Development) that ensures that adequate fire services and facilities are available for all new developments. The proposed density revision would have the potential to increase the residential population in the Downtown Core. However, CASE Policy FI-5.3, which replaced the Safety Element policy referenced in the MND, would not be altered, and future development could only be approved if adequate fire services and facilities exist. No new or more significant fire service impacts beyond what was identified in the MND would occur and no new mitigation measures are required. Police. The MND cited the 2014 LUCE FEIR, which determined that new residential development facilitated by the LUE would place additional service demands on the San Luis Obispo Police Department (SLOPD) and that the increased service demands would have the potential to result in a significant environmental impact if new or physically altered police service facilities would be required to ensure that the City’s officer to population standard was achieved. However, this impact was determined to be less than significant because new or altered police facilities to meet the officer-to-population standard would be required to meet community design guidelines, and its location would need to meet the response time needs of the community. The MND did not identify any new or more significant impacts on police services beyond what was identified in the 2014 LUCE FEIR and no mitigation measures were required. The proposed density revision would have the potential to increase the residential population in the Downtown Core. With additional officers, there could be additional need for evidence and equipment storage, locker space, area to park police vehicles, and support staff (and their associated space needs) necessary to support additional officers. However, consistent with the MND, the proposed density revisions are unlikely to result in adverse physical impacts associated with the provision of new or altered facilities needed to maintain the existing ratio of officers to the population served because any new or reconstructed facility would be required to meet community design guidelines, and its location would need to meet the response time needs of the community. No new or more significant impacts beyond what was identified in the MND would occur and no new mitigation measures are required. Schools. The MND determined that residential development associated with the Zoning Regulations Update would increase the population of the City which would likely increase the number of children attending the City’s public schools. With the payment of Government Code Section 65970 school impact fees, impacts were determined to be less than significant. The MND did not identify any new or more significant impacts to school facilities beyond what was identified in the 2014 LUCE FEIR and no mitigation measures were required. The proposed density revision would have the potential to increase the residential population in the Downtown Core, but all new development would be required to pay any applicable school impact fees. No new or more significant schools impacts beyond what was identified in the MND would occur and no new mitigation measures are required. Page 290 of 399 EXHIBIT A: Addendum to IS/MND for the 2018 Zoning Regulations Update Parks. Citing the 2014 LUCE FEIR, upon buildout of development allowed by the LUCE and Zoning Regulations, the City’s parkland per capita would increase from 3.32 acres per 1,000 residents to 3.44 acres per 1,000 residents with the addition of approximately 52 acres of parkland. The MND determined that impacts to parks would be less than significant as projects are evaluated on a case-by-case basis to determine the level of project-specific open space or park area required. The MND did not identify any new or more significant impacts to park facilities beyond what was identified in the 2014 LUCE FEIR and no mitigation measures were required. The proposed density revision would have the potential to increase the residential population in the Downtown Core by 500 units, which would require approximately 5-10 additional acres of parkland to meet the City’s goal of 10 acres per 1,000 residents. However, consistent with the MND, all projects implemented as a result of the proposed density revisions would be evaluated on a case-by-case basis to determine the level of project-specific open space or park area required. No new or more significant park impacts beyond what was identified in the MND would occur and no new mitigation measures are required. Recreation. The MND determined that existing General Plan policies applicable to the development of future recreational facilities would reduce potential environmental impacts to less than significant. Most of the future parkland to be provided in the city would be constructed as part of the buildout of previously approved (Margarita, Orcutt, San Luis Ranch, Avila Ranch, Froom Ranch) Specific Plans. There are several park and recreation facilities within the Downtown Planning Area (Figure 1), including Cheng Park, Mitchell Park, Triangle Park, Mission Plaza, Mission Plaza Extension, San Luis Creek Open Space, Jack House Gardens, Emerson Park, and Ludwick Community Center. Planned parks in the Downtown Planning Area include Monterey Street Plaza, Toro/Marsh Pocket Park, Courthouse Park, Higuera Street Plaza, Rosa Butron Adobe, and Diagonal Paseo. The proposed density revisions would be required to comply with existing General Plan policies for construction of new recreational facilities; however, due to the built-out condition of the Downtown Core, it is unlikely that new or additional recreation facilities would be constructed as a result of development facilitated by the proposed density revisions. No new or more significant recreation impacts beyond what was identified in the MND would occur and no new mitigation measures are required. Transportation/Traffic. The MND, citing the 2014 LUCE FEIR, determined that development facilitated by the Zoning Regulations Update would result in significant and unavoidable impacts on congestion on the City’s roadways (level of service), specifically to the following eight roadway segments would experience significant impacts due to increases in volumes: Broad (entire corridor south of South Street, South – Orcutt, Orcutt – Tank Farm Road and Buckley – South City Limit); Chorro (Foothill – Lincoln; Los Osos Valley Road (just west of the City Limits); and Prado (US 101 – Higuera and Higuera – Broad). The MND did not identify any new or more significant impacts to roadway congestion and no mitigation measures were required. After the adoption of the MND, the CEQA checklist was revised to replace level of service (congestion) with vehicle miles traveled (VMT) as the preferred metric for evaluating a project’s transportation impacts, in compliance with SB 743. In June 2020, the City formally adopted the transition from LOS to VMT for the purposes of CEQA evaluation and also established local VMT thresholds of significance. While VMT was not specifically analyzed in the 2014 LUCE FEIR, its current inclusion in the CEQA checklist does not warrant an analysis of the entire project unless the project changes would result in new or more severe significant environmental impacts or unless there is new information of substantial importance that was not known at the time of the 2014 LUCE FEIR. Page 291 of 399 EXHIBIT A: Addendum to IS/MND for the 2018 Zoning Regulations Update The proposed density revisions are not anticipated to result in VMT impacts as the potential dwelling units associated with the density revisions would be located downtown, in close proximity to the City’s transit station, the train station/Amtrack, shopping, dining, recreation, and offices. Per the City’s Transportation Impact Study Guidelines VMT Screening Map, while lacking specific data for the Downtown Core, is adjacent to and surrounded by areas with residential VMT per capita that is less than 85% of the regional average. Therefore, the proposed density revisions would not create new or more significant impacts beyond what was identified in the MND and no new mitigation measures are required. Tribal Cultural Resources. The MND determined that development facilitated under the Zoning Regulations Update would result in impacts to tribal cultural resources. This impact was determined to be less than significant with the adherence to the City’s Archaeological Resource Preservation Program Guidelines and compliance with federal and state regulations. The MND did not identify any new or more significant impacts to tribal cultural resources beyond what was analyzed in the 2014 LUCE FEIR. The proposed density revisions would not make any changes to the LUCE and COSE or the Archaeological Resource Preservation Program Guidelines and would not allow new development in areas not contemplated by the LUCE or Zoning Regulations Update. No new impacts to tribal cultural resources beyond what was identified in the MND would occur and no new mitigation measures are required. Utilities/Service Systems. Wastewater. The 2014 LUCE FEIR determined that buildout of development allowed under the LUCE would exceed the capacity of the City’s Water Resource Recovery Facility by 0.26 million gallons per day. However, this impact was determined to be less than significant because at the time the City was proposing to upgrade the Water Resource Recovery Facility to increase in average dry weather flow (ADWF) capacity to serve the buildout of the LUCE, and because policies in the LUCE and the Water and Wastewater Element require projects to demonstrate that adequate treatment capacity at the Water Resource Recovery Facility exists. The MND determined that the Zoning Regulations Update would result in similar impacts as those disclosed in the 2014 LUCE FEIR and no new or more significant impacts to wastewater were identified. The City’s Water Resource Recovery Facility has since been completed and is operational with a capacity of 5.2 million-gallons-per-day. The proposed density revisions would allow an additional 500 units in the Downtown Core and would generate between 45 and 105 gallons of wastewater per day per unit, based on the City’s wastewater generation rates (0.5-1.2 acre-feet-per-year total). The Downtown Core is not within a sewer capacity-constrained area and future development would be required to demonstrate that adequate treatment capacity at the Water Resource Recovery Facility exists prior to construction. No new impacts to wastewater beyond what was identified in the MND would occur and no new mitigation measures are required. Water. The MND, citing the 2014 LUCE FEIR, determined that buildout of development facilitated by the Zoning Regulations Update would require a water supply of 7,815 acre-feet-per-year. The City’s current water supply totals approximately 10,630 acre-feet-per-year, which exceeds the demand that would be generated by the LUCE buildout/Zoning Regulations buildout. Impacts were determined to be less than significant and no new or more significant impacts to waster were identified. Based on the assumptions in the LUCE2, and assuming any residential units constructed under the proposed density revisions would be single or double occupancy, the proposed density revisions would result in approximately 127 to 254 additional acre-feet-per-year of water demand. This would bring the LUCE projected water demand to 7,942 to 8,069 acre- 2 Assumes water reduction requirements of SBX7‐7 would reduce per capita water use to 117 gallons per day by 2020. Page 292 of 399 EXHIBIT A: Addendum to IS/MND for the 2018 Zoning Regulations Update feet-per-year, which is within the City’s water supply of approximately 10,630 acre-feet-per-year. No new impacts to water beyond what was identified in the MND would occur and no new mitigation measures are required. Stormwater. The MND determined that future development could cause an increase in the number of impervious surfaces within the City which could increase the volume of surface runoff into City stormwater systems. Impacts were determined to be less than significant because future development would be required to comply with Central Coast Regional Water Quality Control Board Post Construction Requirements and the City’s Storm Water Management Program. The MND did not identify any new or more significant impacts related to stormwater beyond what was identified in the 2014 LUCE FEIR and no mitigation measures were required. The proposed density revisions would not allow new development in areas not contemplated by the LUCE or Zoning Regulations Update and would not increase the total development potential of a parcel, which currently allows 100% lot coverage (and 100% impervious surface). No new impacts related to stormwater beyond what was identified in the MND would occur and no new mitigation measures are required. Solid Waste. The MND determined that the Zoning Regulations Update would not interfere with the City’s ability to comply with solid waste management and diversion regulations. Additionally, LUCE Policy 1.13.10 requires the City to determine if adequate solid waste disposal capacity exists prior to approving future development. The MND did not identify any new or more significant impacts related to solid waste disposal beyond what was identified in the 2014 LUCE FEIR and no mitigation measures were required. The proposed density revisions would not increase the total development potential of a parcel and new development would only be allowed if adequate solid waste disposal capacity exists, per LUCE policy. No new impacts related to solid waste beyond what was identified in the MND would occur and no new mitigation measures are required. BASIS FOR ADDENDUM In accordance with Section 15164 of the State CEQA Guidelines, the City of San Luis Obispo has determined that this Addendum to the adopted MND is necessary to document changes or additions that have occurred in the project description since the MND was originally adopted. The changes proposed are relatively minor in nature and, as documented above, would not result in any new significant environmental effects or a substantial increase in the severity of previously identified significant effects. Additionally, no new information of substantial importance that was not known and could not have been known with the exercise of reasonable diligence at the time the previous MND was adopted has been identified. The City has reviewed and considered the information contained in this Addendum and finds that the preparation of subsequent CEQA analysis that would require public circulation is not necessary. This Addendum does not require circulation because it does not provide significant new information that changes the adopted MND in a way that deprives the public of a meaningful opportunity to comment upon a substantial adverse environmental effect of the project or a feasible way to mitigate or avoid such an effect. The City shall consider this Addendum with the adopted MND as part of the approval of the proposed ordinance. Page 293 of 399 Page 294 of 399 Memorandum DATE: March 14, 2023 TO: City Council FROM: Michael Codron, Community Development Director VIA: Kyle Bell, Housing Coordinator, & Ryan Tomlinson, Intern SUBJECT: Downtown Flexible Density Program – Policy Context Summary SUMMARY The purpose of this item is for the City Council to provide a detailed policy context analysis regarding the proposed Downtown Flexible Density Program. This Program is intended to support of the City Council’s policy to facilitate housing production in the City. Work to complete this task started in 2018 under the Comprehensive Update to the City’s Zoning Regulations and benefitted from the public outreach process conducted during the adoption of the updates to the 2020 Housing Element and 2020 Climate Action Plan. POLICY CONTEXT The City of San Luis Obispo's two-year budget approach has a long tradition of involving the community in its goal setting process, emphasizes long-range financial planning, and supports effective program management. As part of the 2021-23 Financial Plan the City Council established four Major City Goals for the City to address within the two year financial plan cycle. One of the Major City Goals that was established was for Housing and Homelessness which states: “In order to expand housing options for all, continue to facilitate the production of housing, including the necessary supporting infrastructure, with an emphasis on affordable and workforce housing...” The Downtown Flexible Density Program, along with several other important initiatives to increase housing production, are included in Community Development’s work program in support of the Major City Goal for Housing and Homelessness (emphasis added); “Implement the Housing Element by continuing ongoing programs and by completing new programs such as achieving more “by-right” non-discretionary review with Objective Standards, update the Inclusiona ry Housing Ordinance, and by establishing a Flexible Density program and “Missing Middle” housing program to expand housing opportunities downtown and in single -family neighborhoods.” Page 295 of 399 Memo: Policy Context Summary Page 2 Since the state of the 2021-23 Fiscal Plan, the Community Development Department has made significant effort on implementing the work programs identified in the Housing and Homelessness Major City Goal. A few of the work programs related to Housing are identified below;  On December 7, 2021, the City Council adopted the Objective Design Standards Ordinance No. 1703 (2021 Series), that provides for “by-right” housing development.  On August 16, 2022, the City Council adopted an update to the Inclusionary Housing Ordinance No. 1719 (2022 Series), that resulted in increasing the amount of affordable housing required with each new development project throughout the community.  The State of California has implemented new legislation that has helped in addressing “Missing Middle” housing within single-family neighborhoods through legislative updates to Accessory Dwelling Units and Junior Accessory Dwelling Units State Laws, and implementation of the H.O.M.E Act (SB 9) and the Affordable Housing and High Road Jobs Act (AB 2011). The Downtown Flexible Density Program, together with ongoing implementation of the Major City Goal work plan, are designed to work in concert to accomplish the vision for housing in the community, as expressed in the City’s General Plan. Housing Element: The General Plan Housing Element sets forth the City’s policies and programs for meeting existing and future housing needs, for preserving and enhancing neighborhoods, and for increasing affordable housing opportunities. It is the primary policy guide for local decision-making on all housing matters. Housing Element Goal 2 states: “Affordability: Accommodate affordable housing production that helps meet the City’s Quantified Objectives”. The intention of this goal is to encourage housing production for all financial strata of the City's population, as allocated in the Regional Housing Needs Allocation (RHNA) Plan, inclusive of lower- income housing and market rate housing (Policy 2.4). The recent adopted update to the Inclusionary Housing Ordinance was designed to address the objectives for increasing the number of deed-restricted affordable housing units (Program 2.13). The concept of the flexible density program was memorialized in the Housing Element as an opportunity to incentivize housing production within the City’s urban core and support the production of smaller residential units between 150 – 600 square feet in size (Program 2.15). Housing Element Goal 6 states: “Housing Production: Facilitate the production of housing to meet the full range of community housing needs”. The Housing Element identifies key policies related to housing production throughout the community to help meet the (RHNA plan production targets and support residential infill development by promoting higher residential density where appropriate (Policy 6.8). To further support the goal to stimulate higher density infill projects, the flexible density standards in key areas were identified as an opportunity to support development of smaller apartments and efficiency units (Policy 6.6). Housing Element Goal 6 also encourages prioritizing residential infill development and densification within the City Limits over considerations of new annexations of land (Program 6.15). Page 296 of 399 Memo: Policy Context Summary Page 3 Land Use Element: The General Plan Land Use Element represents a blueprint for the future of the City of San Luis Obispo and sets forth a pattern for the orderly development of land within the City's planning area. The Element describes the expected level of population growth resulting from construction of housing units included in the plan, including new commercial and industrial development. The Land Use Element (LUE) of the City’s General Plan includes the Land Use Diagram, as well as policies that directly shape land use decisions and the resulting physical form of the City. The following summarizes key goals in the LUE related to downtown form: 1. Where appropriate, create compact, mixed-use neighborhoods that locate housing, jobs, recreation, and other daily needs close to one another, while protecting the quality of life in established neighborhoods. 2. Maintain a compact urban form. 3. Preserve the City’s heritage of historic buildings and places. 4. Provide a variety of business services and housing in downtown. 5. Provide a safe and pleasant place to walk and ride a bicycle, for recreation and other daily activities. Downtown is the community’s urban center serving as the cultural, social, entertainment, and political center of the City (LUE Policy 4.1). Downtown is not only a commercial district, but also a neighborhood. Its residential uses contribute to the character of the area, allow a 24-hour presence which enhances security and help the balance between jobs and housing in the community (LUE Policy 4.2). The LUE also encourages the development of downtown housing that minimizes the need for automobile use and minimizes the storage of vehicles in surrounding neighborhoods (LUE Policy 2.9). The LUE includes policies to modify the City’s Zoning Regulations to allow efficiency units and variable density within the Downtown Core (LUE Policy 4.28). LUE Program 2.15 directs the City to evaluate alternatives to the current maximum densit y thresholds, height, parking, and setback standards that currently restrict residential intensity. Program 2.16 provides direction to the City to consider using portions of City -owned parking lots and structures for residential parking. The Land Use Element policy related to residential growth (LUE 1.11.2) states that the City’s housing supply shall grow no faster than one percent per year, on average, based on established thresholds (LUE Table 3). Affordable dwellings restricted to residents with extremely low, very low, low, or moderate incomes, new dwellings in the Downtown Core, and legally established accessory dwelling units are exempt from these regulations (Section 17.144.020.D). Consistency with the Downtown Concept Plan The Downtown Concept Plan is the community’s vision for how downtown San Luis Obispo should be developed over the next 25 years. The concept plan is not a regulatory document and is intended to provide guidance for development projects and public improvements downtown. The Plan promotes a compact urban core, additional housing opportunities, reduce auto travel by providing services, jobs, and housing in proximity to each other. Page 297 of 399 Memo: Policy Context Summary Page 4 Residential uses downtown are intended to provide a range of multi-unit housing types to help meet the vision of a more compact and walkable downtown living environment. The Plan includes eight Planning Principles intended to guide the development in downtown. Principle 3 (Variety in Form and Function) encourages a variety of compatible buildings, uses, activities, and housing types for an inclusive and vital downtown by encouraging flexible mixed-use development, a variety of housing options, and to reduce auto travel by providing jobs and housing in proximity to each other. Principle 7 (Compatible Design) encourages higher-density projects, smaller dwelling units, and other innovative residential solutions. Consistency with the Active Transportation Plan According to the City’s 2021 Active Transportation Plan, the City has a jobs-to-housing ratio of 2.5:1, where many San Luis Obispo workers commute into the City from outside areas, increasing the City’s weekday population. Most employed San Luis Obispo residents work within the City, with nearly 60% reporting a daily commute time of less than 15 minutes. The Active Transportation Plan encourages increasing infill housing within the City’s urban setting to reduce commute times and alleviate single occupant vehicle dependency. Promoting housing downtown will help reduce traffic gridlock and urban sprawl, while also increasing foot-traffic along local storefronts to increase the econom ic vitality of the downtown commercial core. Consistency with the Access and Parking Management Plan The recently adopted 2023 Access and Parking Management Plan sets a path for modernizing parking management and maximizing use of available land. It makes it easier for drivers to find available parking, which reduces traffic congestion and creates safer streets. The City’s Parking Services Division operates roughly 2,600 public parking spaces downtown, spread across five off-street surface lots, three parking structures, and street parking controlled through a variety of time limits, per-hour pricing, permits, and curb use restrictions (loading zones). A widely recognized best practice in parking management involves the comparison of actual parking utilization rates with an 85 percent occupancy threshold. Overall parking occupancy for all on and off -street spaces in the downtown study area was almost always well below the 85 percent occupancy threshold during the study period, except for Farmer’s Market nights. Parking Services offers a variety of different parking permits to meet the needs of various user groups. The Downtown Residential Overnight Parking (DROP) permits cost $375 per quarter and are valid for parking on the third and fourth floors of the Marsh Street and Palm Street structures, day and overnight, which will be available to qualifying units under the Downtown Flexible Density Program. In the third quarter of 2022, only 16 parking passes were sold to downtown residences. The Access and Parking Management Plan also includes policies for decreasing the permit rates for qualifying low-income households. Page 298 of 399 Memo: Policy Context Summary Page 5 Consistency with the Climate Action Plan The City of San Luis Obispo’s 2020 Climate Action Plan (CAP) for Community Recovery set one of the nation’s most ambitious climate action goals: community-wide carbon neutrality by 2035 (CAP Work Program). The Flexible Density Program is specifically included in the CAP Pillar for Connected Communities as Foundational Action No. 5.1 , which states: “Complete the 2019-21 Housing Major City Goal, including Housing Element of the General Plan Update and Flexible Zoning Requirements for Downtown”. Higher-density smaller units built downtown not only allows for more in-town employees to live close to work, but it also enables wider utilization of active transportation in place of car travel and other carbon-intensive high-cost modes of transportation. Transportation is the single largest source of greenhouse gas emissions (GHG) in San Luis Obispo, due primarily to the use of single-occupancy fossil-fueled vehicles. By continuing to build a safe pedestrian and bicycle network, producing more housing in key locations, enhancing public transit, supporting electric vehicle infrastructure, and investing in mobility innovations, the City can reduce GHG emissions from vehicle trips while also reducing individual mobility costs. Construction of new housing near significant transportation nodes and corridors reduces private vehicle trips and associated GHG emissions and is therefore a fundamental concept in sustainable housing development. Page 299 of 399 Page 300 of 399 SAN LUIS OBISPO Downtown Flexible Density Program Public Engagement Summary Date March 2023 Prepared by: Kyle Bell, Housing Coordinator & Ryan Tomlinson, CDD Intern Page 301 of 399 Public Engagement Summary | Page 2 TABLE OF CONTENTS Introduction ................................................................................................................... 3 Background ....................................................................... Error! Bookmark not defined. PEN Manual Compliance .............................................................................................. 6 Overview of Outreach Approach ................................................................................. 6 News Release ............................................................................................................. 6 Stakeholder Focus Groups .......................................................................................... 7 Online Community Forum .......................................................................................... 10 Community Presentations .......................................................................................... 10 Takeaways ................................................................................................................... 12 What Participants Value ............................................................................................ 12 Common Concerns .................................................................................................... 13 Ideas and Suggestions .............................................................................................. 14 Next Steps ................................................................................................................. 15 Page 302 of 399 Public Engagement Summary | Page 3 INTRODUCTION California is amid a housing crisis. Communities throughout the State are challenged with accommodating their fair share of housing production, many of which are exploring innovative solutions to that challenge. Housing is an essential element to a healthy downtown district. Providing for housing in the commercial core of a community generates a constant flow of foot traffic to support nearby retailers, services, restaurants, and other businesses. The concentrated mix of retail, office, and entertainment ty pical of a downtown locates residents within walking distance of most daily activities. The 2020 Housing Element Update identified a flexible density program as an opportunity to incentivize housing production within the city’s urban core and support the production of smaller residential units (Program 2.15). Housing Element Program 2.15: Evaluate a flexible density pilot program and initiate an update of the Zoning Regulations and Community Design Guidelines to incorporate flexible density development options in Downtown Core and portions of Upper Monterey and Mid-Higuera Special Focus Areas to support the production of 50 smaller residential units (150 to 600 square feet) per year during the planning period. As part of the 2021-23 Financial Plan the City Council established four Major City Goals for the City to address within the two year financial plan cycle. One of the Major City Goals that was established was for Housing and Homelessness which states: “In order to expand housing options for all, continue to facilitate the production of housing, including the necessary supporting infrastructure, with an emphasis on affordable and workforce housing...” The Downtown Flexible Density Program, along with several other important initiatives to increase housing production, are included in Community Development’s work program in support of the Major City Goal for Housing and Homelessness; “Implement the Housing Element by continuing ongoing programs and by completing new programs such as achieving more “by-right” non-discretionary review with Objective Standards, update the Inclusionary Housing Ordinance, and by establishing a Flexible Density program and “Missing Middle” housing program to expand housing opportunities downtown and in single -family neighborhoods.” The main goals of the Program are to help address the local housing demand by facilitating increased higher density residential infill development in the downtown area (Figure 1) near employment centers, incentivizing smaller units, and diversifying the city’s housing stock. The Program is intended to incorporate a higher density of residential uses that creates a more vibrant, desirable downtown economy. Page 303 of 399 Public Engagement Summary | Page 4 Figure 1. Downtown Core and Downtown Planning Area Page 304 of 399 Public Engagement Summary | Page 5 BACKGROUND The early work of the Downtown Flexible Density Program first began under the public outreach efforts for the 2014 Circulation and Land Use Element Update (Community Survey Results) that resulted in the adoption of Land Use Element Program 2.151 which directed City staff to consider alternative methods to evaluating density within Downtown. During the public outreach efforts of the 2017 Downtown Concept Plan Update (Downtown Concept Plan, Appendix 1), the concept of increasing density and promoting housing units within downtown was identified as key area of interest by various stakeholders, and was incorporated into the Downtown Concept Plan under Planning Principal 3 (Variety in Form and Function) and Planning Principal 7 (Compatible Design). In 2018, the City conducted significant public outreach efforts for the Comprehensive Zoning Regulations Update (Municipal Code Title 17), a consistent theme of public testimony was focused on removing barriers towards developing housing throughout the community (Workshop Summary / Stakeholder Interview Summary). The City’s consultant working on the update (MIG Consultants) provided a White Paper detailing the concept of Flexible Density and how it could work within the community. However, the final adoption of the 2018 Zoning Regulations Update did not include any specific changes to standards related to flexible density. The 2020 6th Cycle Housing Element Update also included a significant public outreach effort (Housing Element Appendix G), resulting in the adoption of Housing Element Policy 6.62, and Program 2.15, which memorialized the concept of Flexible Density into the City’s General Plan, as described earlier. The public engagement approach for the Downtown Flexible Density Program was designed to complement the previous public engagement efforts related to this concept and allow the community to provide insight on the key components of draft Ordinance. The early phases of public outreach helped the City determine the feasibility and potential success of the concept of the Program. The outreach indicated that the program had potential because it would offer a desirable location for housing that is walkable and in close proximity to jobs, recreation, and other downtown amenities. 1 General Plan Land Use Element Program 2.15: Residential Densities. The City will evaluate alternatives to the current maximum number of dwelling units per acre (based on bedroom count) and height, parking, and setback standards, to regulate residential building intensity, and bulk and mass. Floor area limits will be considered. 2 General Plan Housing Element Policy 6.6: Consistent with the City’s goal to stimulate higher density infill where appropriate in the Downtown, Upper Monterey, and Mid-Higuera Special Focus Areas, the City shall consider changes to the Zoning Regulations that would allow for flexible density standards that support the development of smaller apartments and efficiency units. Page 305 of 399 Public Engagement Summary | Page 6 PEN MANUAL COMPLIANCE According to the Public Engagement and Noticing (PEN) manual, the process for the ordinance adoption would typically fall under inform/consult since flexible density is specifically identified in the Housing Element as a Program, and the Council’s Major City Goal for Housing and Homelessness specifically identified flexible density as a work program for within the 2021-23 Financial Plan. However, the public engagement approach for this Program followed the consult/collaborate approach due to the sensitivity of downtown and interest in housing needs for the community. OVERVIEW OF OUTREACH APPROACH The public engagement effort consisted of several stakeholder interviews and presentations, as well as an Open City Hall Public Forum, as discussed in more detail below. News Release: A news release was published on January 23, 2023. City staff conducted interviews with several news outlets throughout the community, including: The Tribune, Cal Poly Mustang News, New Times, KSBY, and the Agenda Breakdown podcast. Stakeholder Focus Groups: On January 26 and through February 17, 2023, the project team conducted a series of roundtable discussions with 14 stakeholder groups. Stakeholders represented a broad cross section of interested parties, including downtown businesses owners, residents, students, property owners and developers, nonprof it organizations, special interest groups, and organizations representing Diversity Equity and Inclusion (DEI) groups. Online Community Forum Survey: The City received 304 survey responses on Open City Hall, the City’s online engagement tool, which equals 15.2 hours of public comment. Participants were asked to provide feedback on the key components of the Downtown Flexible Density Program. Community Presentations: In addition to the Stakeholder Focus Groups, City staff conducted several community presentations on February 14 through March 2, 2023, for various community groups, such as the Downtown Association Board of Directors, Chamber of Commerce, the Regional Housing Action Team, and the Developer’s Roundtable. News Release To inform the public of the Downtown Flexible Density Program City staff conducted interviews with the following news outlets:  KSBY News  San Luis Obispo Tribune  Mustang News  New Times San Luis Obispo  Agenda Breakdown podcast Page 306 of 399 Public Engagement Summary | Page 7 The purpose of providing a news release was to educate the community of the incoming program and encourage community input. The City explained the necessity of such a program and what the intended effects would look like within the downtown core. By informing the public through various news outlets the City was able to facilitate additional community feedback through the Open City Hall Community Forum. After receiving feedback on the key features of the program the City was able to analyze public sentiment and consider recommendations for amendments to the program. Stakeholder Focus Groups On Friday, January 20, 2023, Staff contacted 15 interest groups from various organizations around the city to attend a stakeholder focus group meeting. The focus groups were provided to facilitate a conversation around the key components of the Downtown Flexible Density Program and included a presentation on the background of the origins of the Program. The various stakeholder interest groups that were invited to a Focus Group discussion included: Each stakeholder group assigned a representative to attend one of the scheduled Focus Group discussions. Although, the Chamber of Commerce opted to participate in a Community Presentation rather than attend one of the Focus Group discussions. Due to scheduling conflicts, representatives from Cuesta opted to provide feedback through the Online Community Forum, rather than attend one of the Focus Group discussions. - i - Stakeholder Interest Groups Page 307 of 399 Public Engagement Summary | Page 8 The Focus Group discussions were not assigned to any specific representatives, and the attendance of each discussion was based on the organization’s availability. The intent of this approach was to provide the opportunity for organizations from different backgrounds to collaborate together to discuss the Program’s key components as it relates to th e specific interests of each different organization. Focus Group 1 – January 26, 2023 Attendees: YIMBY and Downtown Association General Comments: Attendees conveyed support of program, based on goals of providing a more diverse, welcoming, cultural, and inclusive downtown community. Suggestions:  Add additional parking districts, increase parking permit costs, and expand the DROP Program to mitigate parking issues.  Calculate the average capacity of parking structures and overnight parking.  Expand the boundary of the program beyond the Downtown Core to include properties further down Monterey Street.  Amend ordinance to allow developments to qualify through average unit size.  Amend ordinance to 1 parking space for every 3 housing units.  Providing on-site parking typically results in higher housing rents under open market conditions, reducing parking or establishing parking maximums may help in keeping housing prices more attainable for the community. Focus Group 2 – January 30, 2023 Attendees: Transitions Mental Health, HASLO, People’s Self-Help Housing, Cal Poly General Comments: Attendees conveyed support of program, based on the appeal to current demographics of the community, and opportunity to convert unused office space to housing. However, the group took exception to the exemption of the Inclusionary Housing Requirement. Suggestions:  Expand the DROP Program and provide discounts for low-income residents.  Reduce impact fees for projects that include affordable housing.  Provide priority to downtown employees that do not own a car.  Provide bike share program.  Monitor pricing of units to verify level of affordability.  Include requirements to comply with Inclusionary Housing Requirements.  Gather information from major city employers to verify whether this housing typology is in demand for the city’s workforce. Page 308 of 399 Public Engagement Summary | Page 9 Focus Group 3 – January 31, 2023 Attendees: GALA Pride and Diversity Center, Save Our Downtown, Building a Better SLO, and Healthy Communities Working Group General Comments: Majority of attendees conveyed support of program, with one group expressing opposition. Attendees who expressed support of the program noted benefits related to active transportation, commute reductions, and increased economic vitality of the downtown. Attendees who expressed opposition of the program noted concerns towards the small size of the units as unfit for families, and pandemic concerns for over-crowding. All attendees expressed support of incentivizes housing supportive infrastructure such as grocery stores. Suggestions:  Require open air stairs, positive air pressure systems, and freight elevators to plan for higher density living during future pandemics.  Remove the sunset clause or allow for more than 500 units before the deadline.  Require communal/rooftop green space. Focus Group 4 – February 7, 2023 Attendees: Home Builders Association General Comments: Attendees conveyed support of program, as a positive method to increase housing production in the community. Suggestions:  Expand the boundary of the program beyond the Downtown Core to include the entire Downtown Planning Area. Focus Group 5 – February 17, 2023 Attendees: Race Matter’s SLO and Diversity Coalition of SLO County General Comments: Attendees conveyed support of the program as a positive approach in promoting economic vitality and increasing the supply of housing in the downtown community. The group shared that the increase of housing in downtown will also help with enhancing downtown as a cultural center with more opportunities for residential amenities such as bodegas and grocery stores and other cultural hubs. The group suggested providing a visual aid to showcase an example of a 600 square foot unit or 300 square foot unit, to help the community gain perspective of these types of units under the program. Suggestions:  Attendees indicated that they would reflect on the Program and meet with their organizations before providing any recommendations to the Planning Commission or City Council. Page 309 of 399 Public Engagement Summary | Page 10 Online Community Forum Open City Hall is an online tool for community engagement. Open City Hall can be used as an online alternative to in-person community outreach events like Workshops, Road Shows and Open Houses. Use of this tool allows those who can’t attend meetings to receive the same information and provide feedback. A Community Forum was provided through Open City Hall for members of the public to provide input on the various components of the Downtown Flexible Density Program. The forum was designed to facilitate an open discussion regarding the needs of housing within the Downtown area. Participants were asked to provide their feedback on the key components of the program to meet the needs of the community. Open City Hall Community Forum: https://www.opentownhall.com/portals/189/Issue_12545 Response Summary The Community Forum received 304 survey responses, which equals 15.2 hours of public comment. Of the 304 survey responses, approximately 58% conveyed support towards the proposed program, however, 37% expressed direct opposition to the program. The remaining 6% of the responses expressed hesitation toward the proposed program, a few of these responses indicated that they may have supported the program if it wasn’t a specific key component of the Ordinance (the two main areas concerns were in regard to the inclusionary housing exemption, and the parking reduction). Community Presentations In addition to the Stakeholder Focus Groups, City staff conducted several community presentations on February 14 through March 2, 2023, for various community groups, such as the Downtown Association Board of Directors, Chamber of Commerce, the Regional Housing Action Team, and the Developer’s Roundtable. The presentations consisted of an overview of the Downtown Flexible Density Program, followed by opportunity for feedback on any of the key components of the Program. 58% 37% 6% 0 20 40 60 80 100 120 140 160 180 200 Support for the Program Opposition to the Program Hesitation Towards the ProgramNumber of ResponsesAttitude Towards the Program Open City Hall Community Forum Page 310 of 399 Public Engagement Summary | Page 11 Downtown Association: Board of Directors – February 14, 2023 Attendees asked for clarification on how many residential units exist downtown (214) and how many more units are planned in the pipeline (~300 residential units). The group expressed support for incentivizing relevant infrastructure such as grocery stores. Suggestions:  Provide information on where the existing residents within downtown currently park their vehicles. Chamber of Commerce – February 16, 2023 Attendees conveyed support of the program although they would like to see the program go even further. Attendees asked for clarification on existing and proposed parking requirements, the group expressed concerns about the 500-unit cap could result in a ‘land grab’. There was also a concern that the unit cap based on permit entitlement or issuance may not result in the units actually being built within the Housing Cycle. The group also expressed support for expanding the boundaries of the program beyond the Downtown Core. Suggestions:  Provide a streamlined process for projects that have received entitlements to be modified under the program.  Expand the program boundaries to include more properties north and south of downtown.  Eliminate parking requirements for qualifying units under the program.  Eliminate the 500-unit cap, or change program based on occupancy rather than entitlement, to ensure the units get built. Regional Housing Action Team – February 16, 2023 The Regional Housing Action Team is a group of representatives from each municipality within SLO County to discuss Housing initiatives and programs and provide a pla tform for collaboration and information sharing. Attendees asked questions related to processing and public outreach efforts. The group also asked for clarification on how the program works with Density Bonus Law and other State Law initiatives. The purpose of the meeting was limited to information sharing, the group did not convey any notions of support or opposition. Suggestions: No suggestions were provided. Developer’s Roundtable – March 2, 2023 The Developer’s Roundtable is a group of representatives from various private development groups that operate within the City of SLO. Page 311 of 399 Public Engagement Summary | Page 12 Attendees asked questions related to the applicability of Building Codes for life safety regarding the conversion of existing upper story offices into housing projects under the program. Attendees also asked a series of clarifying questions related to the City’s Parking In-lieu Fee District, to better understand the implications of existing and proposed parking requirements under the program. Suggestions: No suggestions were provided. TAKEAWAYS Some of the overall themes from the extensive engagement activities are highlighted below. What Participants Value From the input gathered throughout the Downtown Flexible Density Program outreach process to date, we have learned that the majority of participants value the following things about the proposed program:  Increases the supply of housing within downtown.  Promotes community goals for economic vitality for downtown businesses .  Provides more options for single household living within downtown.  Promotes community goals for active transportation such as bicycle and transit infrastructure and reduces vehicle dependency.  Prevents urban sprawl and preserves the city’s green belt by fo cusing development within the urban core rather than expanding out.  Supports Climate Action initiatives that may help in reducing greenhouse gas emissions throughout the community. Page 312 of 399 Public Engagement Summary | Page 13 Common Concerns “If the Flexible Density ordinance didn't ease the IHO, you'd get a yes vote from me, but for now it's a no.” – Quote from Open City Hall Community Forum During the public engagement activities, public stakeholders and community members provided hundreds of comments that help us better understand concerns related to the implementation of the Program. Comments from those who expressed opposition or hesitancy toward the proposed Program, identified the following prevailing themes: Increases Housing Opportunities Promotes Economic Vitality Promotes Housing Diversity Promotes Active Transportation Reduces Vehicle Dependency Reduces Urban Sprawl Supports Climate Action Page 313 of 399 Public Engagement Summary | Page 14 Ideas and Suggestions A list of public recommendations has been provided bel ow for consideration by the Planning Commission. 1. Affordable Housing: The Program should require compliance with Inclusionary Housing Requirements or increase affordable housing requirements – design for existing residents/workforce. •There is already a deficiency of parking downtown, more housing with parking reductions may exacerbate the downtown parking problem. Parking •The exemption from the Inclusionary Housing Requirements will further increase the disparity of housing that would be attainable for the community’s workforce. Affordability •Adding more housing downtown will result in overcrowding, which may have a correlation to an increase in crime and noise in the community. Overcrowding •Additional housing downtown will increase traffic throughout the community. Traffic •The 600 square foot unit size does not accommodate housing for families Unit Size •Water availability needs to be assured for the existing residences before increasing opportunities for more housing. Water •The Program may result in taller buildings throughout the downtown area, which may block views towards the surrounding hills. Views Page 314 of 399 Public Engagement Summary | Page 15 2. Active Transportation: Enhance existing bicycle and transit infrastructure, ensure readily available bicycle parking is provided for residents, consider Bike Share Program. 3. Unit Sizes: Increase the size of the units within the Program and allow for more unit type configurations such as two-bedroom units. 4. More Parking: Do not provide for any parking reductions associated with the program. 5. Less Parking: Reduce parking requirements further or eliminate minimum parking requirements altogether. 6. Expand the Downtown Residential Overnight Parking Program and provide discounts for low-income households. 7. Remove the 500-unit limit within the program, or change program based on occupancy rather than entitlement, to ensure the units get built. 8. Consider expanding the program boundaries beyond the Downtown Core. 9. Reduce fees associated with development of housing projects, provide opportunities for permit streamlining. 10. Require open air stairs, positive air pressure systems, communal open spaces, and freight elevators to plan for higher density living during future pandemics. Next Steps These suggestions will be provided in the final draft of the Downtown Flexible Density Program, as part of the City Council Agenda Report. A hearing with the City Council is tentatively scheduled for Tuesday, March 21, 2023. Page 315 of 399 Page 316 of 399 RESOLUTION NO. PC-1070-23 A RESOLUTION OF THE PLANNING COMMISSION OF THE CITY OF SAN LUIS OBISPO RECOMMENDING THE CITY COUNCIL INTRODUCE AND ADOPT AN ORDINANCE AMENDING TITLE 17 (ZONING REGULATIONS) OF THE MUNICIPAL CODE TO INCLUDE INCORPORATE A DOWNTOWN FLEXIBLE DENSITY PROGRAM FOR QUALIFYING RESIDENTIAL PROJECTS. PROJECT IS CONSISTENT WITH THE PREVIOUS MITIGATED NEGATIVE DECLARATION FOR THE 2018 COMPREHENSIVE ZONING REGULATIONS UPDATE AS REPRESENTED IN THE PLANNING COMMISSION AGENDA REPORT AND ATTACHMENTS DATED FEBRUARY 22, 2023 (DOWNTOWN CORE; CODE-0017-2023) WHEREAS, on February 5, 2019, the City of San Luis Obispo adopted a comprehensive update of the Zoning Ordinance (2018 Zoning Ordinance); and WHEREAS, on November 17, 2020, the City Council of the City of San Luis Obispo conducted a public hearing via teleconference on November 17, 2020, for the purpose of final adoption of the sixth cycle update to the General Plan Housing Eleme nt that included Program 2.15 and Policy 6.6 that directed staff to create a Downtown Flexible Density Program for consideration; and WHEREAS, the Planning Commission of the City of San Luis Obispo conducted a public hearing in the Council Chamber of City Hall, 990 Palm Street, San Luis Obispo, California on February 22, 2023, for the purpose of considering the various amendments to Title 17 (Zoning Regulations) of the Municipal Code to implement the Downtown Flexible Density Program; and WHEREAS, notice of said public hearing were made at the time and in the manner required by law; and WHEREAS, the Planning Commission has duly considered all evidence, including the testimony of the applicant, interested parties, and the evaluation and recommendations by staff, presented at said hearing. NOW, THEREFORE, BE IT RESOLVED , by the Planning Commission of the City of San Luis Obispo as follows: SECTION 1. Findings. The Planning Commission does hereby recommend the City Council introduce and adopt the proposed Downtown Flexible Density Program for qualifying residential projects based on the following findings: 1. The proposed amendments to Title 17 to implement the Downtown Flexible Density Program will not cause significant health, safety, or welfare concerns since the amendments are consistent with the General Plan and directly implement City goals and polices. Page 317 of 399 Planning Commission Resolution No. PC-1070-23 CODE-0017-2023 Page 2 2. The proposed amendments to Title 17 of the Municipal Code are consistent with the 6th Cycle Housing Element Program 2.15 which states “Evaluate a flexible density pilot program and initiate an update of the Zoning Regulations and Community Design Guidelines to incorporate flexible density development options in Downtown Core and portions of Upper Monterey and Mid-Higuera Special Focus Areas to support the production of 50 smaller residential units (150 to 600 square feet) per year during the planning period.” 3. The proposed amendment to Title 17 of the Municipal Code are also consistent with the 6th Cycle Housing Element Policy 6.6 which states “Consistent with the City’s goal to stimulate higher density infill where appropriate in the Downtown, Upper Monterey, and Mid-Higuera Special Focus Areas, the City shall consider changes to the Zoning Regulations that would allow for flexible density standards that support the development of smaller apartments and efficiency units.” SECTION 2. Environmental Review. Pursuant to CEQA Guideline 15164, an addendum to the Initial Study / Negative Declaration for the Zoning Regulations Update (GENP-0327-2017) was prepared for the proposed Downtown Flexible Density Program. The addendum concluded the following: i. Pursuant to Section 15162 of the State CEQA Guidelines , a subsequent environmental impact report is not required because: a) The project changes do not result in new or more severe environmental impacts. b) The circumstances under which the project is undertaken will not require major changes to the adopted Negative Declaration , and c) The modified project does not require any new mitigation measures. ii. The proposed Downtown Flexible Density Program, including proposed amendments identified in this Addendum, would make revisions, additions, corrections and clarifications to various sections of the Zoning Regulations to ensure consistency and successful implementation of the Housing Element. The proposed Downtown Flexible Density Program and associated amendments to Municipal Code Title 17 are consistent with the scope of the previously approved Comprehensive Zoning Regulations Update. iii. The changes are consistent with State Law, the City of San Luis Obispo Climate Action Plan, and the City of San Luis Obispo General Plan. Based on the foregoing, the City Council will consider adopting the Addendum to the Initial Study Negative Declaration that was prepared for the Comprehensive Zoning Regulations Update for the Downtown Flexible Density Program, at their Regular Meeting on March 21, 2023, as provided in Exhibit A. Page 318 of 399 Planning Commission Resolution No. PC-1070-23 CODE-0017-2023 Page 3 SECTION 3 . Recommendation. The Planning Commission does hereby recommend the City Council introduce and adopt an ordinance amending Title 17 (Zoning Regulations) of the Municipal Code to include the Downtown Flexible Density Program for qualifying residential projects as set forth in Exhibit B. On motion by Commissioner Jorgensen, seconded by Commissioner Cooley and on the following roll call vote: AYES: Commissioners Cooley, Houghton, Jorgensen and Vice Chair Hopkins NOES: None REFRAIN: None ABSENT: Commissioners Munoz-Morris and Chair Khan The foregoing resolution was passed and adopted this 22nd day of February 2023. ________________ Tyler Corey, Secretary Planning Commission Page 319 of 399 EXHIBIT A Addendum to the Initial Study/Mitigated Negative Declaration for the 2018 Zoning Regulations Update, San Luis Obispo, California FEBRUARY 2023 PREPARED FOR City of San Luis Obispo PREPARED BY SWCA Environmental Consultants Page 320 of 399 ADDENDUM TO THE INITIAL STUDY/MITIGATED NEGATIVE DECLARATION FOR THE 2018 ZONING REGULATIONS UPDATE, SAN LUIS OBISPO, CALIFORNIA Prepared for City of San Luis Obispo 919 Palm Street San Luis Obispo, CA 93401 Attn: Kyle Bell, Housing Coordinator Prepared by SWCA Environmental Consultants 1422 Monterey Street, Suite C200 San Luis Obispo, CA 93401 (805) 543-7095 www.swca.com SWCA Project No. 71167.04 February 2023 Page 321 of 399 Addendum to IS/MND for the 2018 Zoning Regulations Update i CONTENTS Introduction ..................................................................................................................... 1 Purpose of Addendum ..................................................................................................... 1 Project Revisions ............................................................................................................ 3 Minor Technical Changes to the MND............................................................................. 4 Basis for Addendum ...................................................................................................... 13 Page 322 of 399 Addendum to IS/MND for the 2018 Zoning Regulations Update 1 INTRODUCTION On February 5, 2019, the City of San Luis Obispo (City) adopted a Mitigated Negative Declaration (MND; State Clearing House [SCH] #2013121019) for the Zoning Regulations Update (project) and approved revisions to the Zoning Regulations that were focused on implementation of the policies and programs in the City’s General Plan Land Use and Circulation Element (LUCE). Specifically, the revisions included specifying density for dwelling units less than 600 square feet in size as 0.50 density units, consistent with LUCE Policies 2.15 and 4.28. Since the Zoning Regulations update was consistent with the 2014 LUCE, the MND tiered with and incorporated, by reference, the City’s previously-certified Program Final Environmental Impact Report (September 2014; FEIR; SCH #2013121019) prepared for the LUCE pursuant to State CEQA Guidelines Sections 15150, 15152, and 15168. The City is now seeking minor revisions from what was analyzed in the MND to amend the Zoning Regulations and revise the density for dwelling units less than 600 square feet in size that are in the Downtown Core from 0.50 density units to 0.00 density units (see discussion below). The project would apply to the Downtown Core (as identified in the LUCE) on parcels zoned C-D (Downtown Commercial) and C-R (Retail Commercial), see Figure 1 below. PURPOSE OF ADDENDUM Pursuant to Section 21166 of CEQA and Section 15162 of the State CEQA Guidelines, when a lead agency has adopted an MND for a project, a subsequent MND does not need to be prepared for the project unless the lead agency determines that one or more of the following conditions are met: 1. Substantial project changes are proposed that will require major revisions of the previous MND due to the involvement of new significant environmental effects or a substantial increase in the severity of previously identified significant effects; 2. Substantial changes would occur with respect to the circumstances under which the project is undertaken that require major revisions to the previous MND due to the involvement of new significant environmental effects or a substantial increase in the severity of previously identified significant effects; or 3. New information of substantial importance that was not known and could not have been known with the exercise of reasonable diligence at the time the previous MND was adopted shows any of the following: a. The project will have one or more significant effects not discussed in the previous MND; b. Significant effects previously examined will be substantially more severe than identified in the previous MND; c. Mitigation measures or alternatives previously found not to be feasible would in fact be feasible, and would substantially reduce one or more significant effects of the project, but the project proponent declines to adopt the mitigation measures or alternatives; or d. Mitigation measures or alternatives that are considerably different from those analyzed in the previous MND would substantially reduce one or more significant effects on the environment, but the project proponent declines to adopt the mitigation measures or alternatives. Page 323 of 399 Addendum to IS/MND for the 2018 Zoning Regulations Update 2 Figure 1. Downtown Core and Downtown Planning Area Page 324 of 399 Addendum to IS/MND for the 2018 Zoning Regulations Update 3 Preparation of an Addendum to an MND is appropriate when none of the conditions specified in Section 15162 (above) are present and some minor technical changes to the previously adopted MND are necessary (see discussion below). PROJECT REVISIONS The MND analyzed revisions to the Zoning Regulations that included changing the City’s bedroom density approach and establishing a minimum density unit count in multi-unit zones. Studio and one-bedroom dwelling units less than 600 square feet in size (in all zones except AG, C/OS, and R-1), were assigned a density unit value of 0.50 (i.e., if a parcel has a maximum density allowance of 4, up to 8 units less than 600 square feet in size could be built). The City now proposes to revise the density unit value of dwellings less than 600 square feet in size in the Downtown Core from 0.50 density units to 0.00 density units to facilitate the implementation of LUCE Policy 4.28, which calls for variable density and efficiency units1 in the downtown. The City uses floor-area-ratio (FAR) to regulate the intensity of uses through a combination of height and lot coverage standards. The existing maximum FAR in the C-D zone is 3.0 for structures up to 50 feet tall, 3.75 for structures over 50 feet tall, and 4.0 for structures over 50 feet tall that either include a transfer of development credits for open space or historic preservation. The existing maximum FAR in the C-R zone is 3.0. The existing height limit in the C-D zone is 50 feet, or up to 75 feet with approval of a use permit from the Planning Commission contingent upon performance standards described in Section 17.32.030 of the Zoning Regulations. The maximum allowed lot coverage in the C-D zone is 100 percent. The existing height limit in the C-R zone is 45 feet. The proposed revision would alter the traditional allocation of residential capacity in the Downtown Core away from density units per acre and only rely on the FAR allowances of individual parcels as the threshold for the maximum number of units less than 600 square feet (limited to a studio or one-bedroom configuration). Standard density limitations would apply for all units larger than 600 square feet. By relying on the FAR rather than density units per acre, a parcel could have greater flexibility in the number of qualifying units within the footprint of the structure. Residential uses on the ground floor would still be prohibited in the C-D zone due to the existing flood zone restrictions. The proposed revisions would not alter FAR, height, or lot coverage standards. Based on the City’s Housing Element Development Capacity Calculation (Appendix E), and assuming an average 50% floor-area-ratio (FAR) dedicated toward residential uses, the maximum additional buildout capacity of the Downtown Core would be approximately 1,000 units, which would likely be single or double occupancy units. However, the draft ordinance proposes to limit the program to 500 units. 1 Efficiency units are defined by Health and Safety Code Section 17958.1 and are units that are a minimum of 150 square feet in size that may also have partial kitchen and bathroom facilities. Page 325 of 399 Addendum to IS/MND for the 2018 Zoning Regulations Update 4 MINOR TECHNICAL CHANGES TO THE MND Aesthetics. The MND determined potential impacts resulting from the implementation of the Zoning Regulations Update may include: blockage of views by construction equipment and staging areas; disruption of views by temporary signage; exposure of slopes and removal of vegetation; structural development within identified scenic areas; and view blockages by new structures, signs, and parking areas. The proposed density revisions would not alter the height, FAR, lot coverage, or design guideline standards and would not result in new development where such development is currently prohibited. No new or more significant aesthetic impacts beyond what was identified in the MND would occur and no new mitigation measures are required. Agriculture. The MND determined that buildout of the City pursuant to the Zoning Regulations Update would facilitate the development and redevelopment of residential uses in areas of the city near agricultural areas. The proposed density revisions would apply only to the Downtown Core and would not apply to land designated for agriculture or to land that is near agriculture areas. No new or more significant agriculture impacts beyond what was identified in the MND would occur and no new mitigation measures are required. Air Quality. The MND citing the 2014 LUCE FEIR identified inconsistencies with the assumptions used in the San Luis Obispo Air Pollution Control District’s (SLOAPCD’s) Climate Action Plan (CAP). This change was determined to be significant and unavoidable and a statement of overriding considerations was adopted by the City Council. The MND did not identify any new or more significant CAP consistency impacts beyond what was identified in the 2014 LUCE FEIR and no mitigation measures were required. The proposed density revisions would exceed the population growth projections of the SLOAPCD CAP as the density is higher than what was accounted for. However, this impact was considered in the MND and the proposed density revisions would not substantially increase this projection (500 new units). No new or more significant SLOAPCD CAP consistency impacts would occur beyond what was identified in the MND, and no new mitigation measures are required. The MND determined that future development projects proposed under the Zoning Regulations Update would require construction activity resulting in the generation of criteria air pollutants and ozone precursor emissions. The MND cited the 2014 LUCE FEIR which determined that adherence to relevant policies and implementation of SLOAPCD‐recommended project‐specific mitigation measures would reduce potential impacts associated with future development under the proposed Zoning Regulations Update to a less‐than‐significant level. The MND did not identify any new or more significant construction-related air pollutant emissions impacts beyond what was identified in the 2014 LUCE FEIR and no mitigation measures were required. The proposed density revisions would not increase the total potential development of a parcel, which would still be governed by FAR, height, and lot coverage standards. No new or more significant construction- related air quality impacts would occur beyond what was identified in the MND, and no new mitigation measures are required. The MND determined that future development projects proposed under the Zoning Regulations Update would involve the operation of development projects that would generate long-term emissions of criteria pollutants and ozone precursors. However, the MND also noted that consistent with the LUCE, the Zoning Regulations Update may result in beneficial environmental impacts on air quality by developing incentives in the Downtown area to reduce the use of cars, including provisions that would allow for corner stores in residential areas, further allowing upper- story residential uses in commercial areas, providing for an enhanced pedestrian experience in Page 326 of 399 Addendum to IS/MND for the 2018 Zoning Regulations Update 5 the Downtown, providing additional dwelling units within medium to high residentially-zoned areas, maintaining rural character and protecting natural resource areas, incorporating further sustainability standards into land use regulations, and adjusting parking requirement to achieve multi-modal objectives identified in the General Plan. The MND did not identify any new or more significant construction-related air pollutant emissions impacts beyond what was identified in the 2014 LUCE FEIR and no mitigation measures were required. The proposed density revisions would implement an incentive to reduce the use of cars by providing additional residential uses in the Downtown Core, in proximity to shopping, dining, transportation, and recreation, which may result in a beneficial environmental impact to air quality. No new or more significant operational air quality impacts beyond what was identified in the MND would occur and no new mitigation measures are required. The MND determined that the Zoning Regulations Update would not result in the exposure of sensitive receptors to substantial sources of local carbon monoxide concentrations, toxic air contaminants, or odors, based on the 2014 LUCE FEIR, because the Zoning Regulations Update would occur in areas of the City that were assessed in the 2014 LUCE FEIR. The proposed density revisions would not result in the placement of new sensitive receptors closer to existing sources of air pollution in comparison to existing conditions. No new or more significant impacts beyond what was identified in the MND would occur and no new mitigation measures are required. Biological Resources. The MND determined that future development pursuant to the Zoning Regulations Update would be required to comply with local, state, and federal laws and policies, and all applicable permitting requirements of the regulatory and oversight agencies intended to address potential impacts to special‐status wildlife species. The MND determined that implementation of local policies, as well as compliance with state and federal laws and policies and the requirements of regulatory and oversight agencies as appropriate, and reliance on establishment of project‐specific mitigation measures where appropriate would reduce potential impacts to a less than significant level. The proposed density revisions would apply to the Downtown Core, which is a largely built-up area with little remaining native habitat. San Luis Obispo Creek flows in a man-made channel and through a concrete tunnel beneath downtown San Luis Obispo emerging near Mission San Luis Obispo de Tolosa. Future development resulting from the proposed revisions would be subject to creek setback requirements and performance standards identified in the Zoning Regulations. Additionally, Conservation and Open Space Element (COSE) Policy 7.3 requires that projects within or adjacent to known occurrences of Natural Communities of Special Concern, or in areas that have potential to contain one or more of these habitats, to have a site-specific biology report prepared and undergo individual project environmental review to determine the location, extent, and proposed impact to those habitats. No new impacts to biological resources beyond what was identified in the MND would occur and no new mitigation measures are required. Cultural Resources. The MND, citing the 2014 LUCE FEIR, determined that development facilitated under the LUCE and Zoning Regulations Update could have an adverse impact on historical structures by damaging or destroying historical buildings or structures, diminishing the integrity of the context and setting of individual properties, or diminishing the integrity of the historical district. The loss of historic buildings or new developments within the existing historic districts that could impact historical resources was considered potentially significant. However, the policies and programs identified in the LUCE and COSE, the City’s Historic Preservation Ordinance, Historic Preservation Program Guidelines, Historic Context Statement, the City‐ designated Cultural Heritage Committee (CHC) policies and guidelines, and compliance with CEQA would directly address this impact. The MND did not identify any new or more significant Page 327 of 399 Addendum to IS/MND for the 2018 Zoning Regulations Update 6 impacts on historical resources beyond what was analyzed in the 2014 LUCE FEIR. The proposed density revisions would not make any changes to the LUCE and COSE, the City’s Historic Preservation Ordinance, Historic Preservation Program Guidelines, Historic Context Statement, or the City‐designated Cultural Heritage Committee (CHC) policies and guidelines and would not allow new development in areas not contemplated by the LUCE or Zoning Regulations Update. No new impacts to historical resources beyond what was identified in the MND would occur and no new mitigation measures are required. The MND determined that development facilitated under the Zoning Regulations Update would result in impacts to archeological and paleontological resources and human remains. This impact was determined to be less than significant with the adherence to the City’s Archaeological Resource Preservation Program Guidelines and compliance with federal and state regulations. The MND did not identify any new or more significant impacts on archaeological and paleontological resources or human remains beyond what was analyzed in the 2014 LUCE FEIR. The proposed density revisions would not make any changes to the LUCE and COSE, the City’s Historic Preservation Ordinance, Historic Preservation Program Guidelines, Historic Context Statement, or the City‐designated Cultural Heritage Committee (CHC) policies and guidelines and would not allow new development in areas not contemplated by the LUCE or Zoning Regulations Update. No new impacts to archaeological and paleontological resources or human remains beyond what was identified in the MND would occur and no new mitigation measures are required. Geology and Soils. The MND, citing the 2014 LUCE FEIR, determined that compliance with the California Building Code and the City’s General Plan would reduce geologic and seismic impacts to less than significant. The MND did not identify any new or more significant impacts on geological resources beyond what was analyzed in the 2014 LUCE FEIR. The proposed density revisions would not allow new development in areas not contemplated by the LUCE or Zoning Regulations Update. No new impacts to geological resources beyond what was identified in the MND would occur and no new mitigation measures are required. Greenhouse Gas Emissions. The MND determined that the Zoning Regulations Update will be one of the principal tools for implementing the LUCE and will advance greenhouse gas reduction goals as mandated by the State (AB32, SB375) and the City’s CAP. The Zoning Regulations Update facilitates the development of a sustainable, multi-modal community to reduce per capita vehicle miles traveled (VMT) and greenhouse gas (GHG) emissions through increased design standards, new design guidelines, and the imposition of general site regulations. New strategies in the updated Zoning Regulations include: • As an incentive for increased height in the C-D zone and a community benefit for a PD overlay, having a developer provide net-zero energy construction features • Reducing the allowable pervious surface coverage in front yards of R-1 zones from 50 percent to 40 percent • As an incentive for increased height in the C-D zone and a community benefit for a PD overlay, requiring a Transportation Demand Management (TDM) program that achieves measurable 20 percent mode shift and that is covenanted for long-term implementation • Allowing shared car services (e.g., ZipCar) spaces to be located in developments without increased parking requirements • Parking requirements for alternative clean fuel vehicles • Requirements for showers, lockers and changing rooms for large developments Page 328 of 399 Addendum to IS/MND for the 2018 Zoning Regulations Update 7 The MND did not identify any new or more significant impacts on GHG emissions beyond what was analyzed in the 2014 LUCE FEIR. The proposed density revisions would not allow new development in areas not contemplated by the LUCE or Zoning Regulations Update and would not change existing GHG policies of the City’s CAP or LUCE. No new GHG impacts beyond what was identified in the MND would occur and no new mitigation measures are required. Hazards and Hazardous Materials. The MND determined that allowing residential development in areas of commercial use or previous commercial use could expose occupants or construction workers to potentially hazardous materials including asbestos-containing materials and lead- based paint, but that compliance with LUCE and the Climate Adaptation and Safety Element (CASE) policies, City Demolition and Moving of Buildings Section 115 Public Safety Requirements, and state and federal regulations would reduce impacts to less than significant. The MND did not identify any new or more significant impacts related to hazards and hazardous materials beyond what was analyzed in the 2014 LUCE FEIR. The proposed density revisions would not allow new development in areas not contemplated by the LUCE or Zoning Regulations Update and would not introduce residential uses in proximity to hazards beyond what was contemplated in the MND. No new impacts related to hazards and hazardous materials beyond what was identified in the MND would occur and no new mitigation measures are required. Hydrology and Water Quality. The MND determined that potential development associated with the Zoning Regulations Update could result in the pollution of natural watercourses and/or underground aquifers. However, impacts were determined to be less than significant with the mandatory compliance of General Plan policies and the City’s Stormwater Quality Ordinance. The MND did not identify any new or more significant impacts related to hydrology and water quality beyond what was analyzed in the 2014 LUCE FEIR. The proposed density revisions would not allow new development in areas not contemplated by the LUCE or Zoning Regulations Update and would not increase the total development potential of a parcel, which currently allows 100% lot coverage. No new impacts related to pollution of natural watercourses and/or underground aquifers beyond what was identified in the MND would occur and no new mitigation measures are required. The MND determined that the Zoning Regulations Update has the potential to increase the amount of impervious surface within the City, which could result in a decrease in percolation to the groundwater basin, the alteration of drainage patterns, and increases in the volume of surface runoff. Adherence to the City’s General Plan and compliance with the City’s Storm Water Management Program and Drainage Design Manual was determined to be adequate to reduce impacts from additional impervious surfaces to less than significant. The proposed density revisions would not allow new development in areas not contemplated by the LUCE or Zoning Regulations Update and would not increase the total development potential of a parcel, which currently allows 100% lot coverage. No new impacts related to additional impervious surfaces beyond what was identified in the MND would occur and no new mitigation measures are required. The MND determined that future development resulting from the Zoning Regulations Update could result in new development within a 100-year floodplain and introduce structures in areas that could impede or redirect flood flows. Adherence to the City’s Floodplain Management Zone Regulations, the Waterway Management Program, the Drainage Design Manual, and the Stream Management and Maintenance Program was determined to be sufficient to ensure that impacts from flooding remain less than significant. The proposed density revisions would not allow new development in areas not contemplated by the LUCE or Zoning Regulations Update and would not increase the total development potential of a parcel, which currently allows 100% lot coverage. No new impacts related to flooding beyond what was identified in the MND would occur and no Page 329 of 399 Addendum to IS/MND for the 2018 Zoning Regulations Update 8 new mitigation measures are required. Land Use/Planning. The MND determined that the update to the Zoning Regulations would not result in the division of the community. The proposed density revisions would not allow new development in areas not contemplated by the LUCE or Zoning Regulations Update and would introduce new uses or infrastructure that could divide a community. No new impacts related to additional impervious surfaces beyond what was identified in the MND would occur and no new mitigation measures are required. The MND, citing the 2014 LUCE FEIR, determined that the Zoning Regulations Update would make the Zoning Regulations consistent with the LUCE by including standards and requirements that: facilitate protection of the environment, including hillsides, creeks, surface and groundwater, soils, and air quality; include development and redevelopment standards that support a well- balanced community; and maintain and where appropriate adapt the City form to preserve open space, create compact, mixed-use neighborhoods that locate housing, jobs, recreation, and other daily needs in close proximity to one another, protect the quality of life in established neighborhoods through compliance with proposed edge conditions regulations, and encouraging multi-modal transportation. Impacts related to environmental policy consistency were determined to be less than significant. The proposed density revisions would not allow new development in areas not contemplated by the LUCE or Zoning Regulations Update. Future land uses that occur pursuant to the proposed density revisions would be required to conform to all applicable regulations and standards of the updated Zoning Regulations and the LUCE. No new impacts related to additional environmental policy consistency beyond what was identified in the MND would occur and no new mitigation measures are required. Mineral Resources. The MND determined that there are no mineral resource recovery sites within the city and that implementation of the Zoning Regulations Update would have no impact on mineral resources. The proposed density revisions would not be located in areas of the city no contemplated by the Zoning Regulations Update. No new impacts related to mineral resources would occur, there would be no impact, and no new mitigation measures are required. Noise. The MND, citing the 2014 LUCE FEIR, determined that development constructed pursuant to the Zoning Regulations Update would result in construction activities that could generate noise levels that exceed the standards of the City’s Noise Control Ordinance. This impact was determined to be significant and unavoidable and a statement of overring considerations was adopted by the City Council. The MND did not identify any new or more significant construction noise impacts beyond what was identified in the 2014 LUCE FEIR and no mitigation measures were required. The proposed density revisions would not allow construction in areas not contemplated by the LUCE or Zoning Regulations Update and would not increase the construction potential of a property which would still be governed by FAR, height, and lot coverage standards. No new impacts related to noise beyond what was identified in the MND would occur and no new mitigation measures are required. The MND determined that consistent with the analysis and conclusions in the 2014 LUCE FEIR, implementation of the Zoning Regulations Update would result in increased traffic volumes and associated noise levels along major transportation routes. New development associated with the Zoning Regulations Update could also result in the siting of new sensitive receptors in close proximity to transportation noise sources such as major roadways and the railroad, with the potential to exceed the land use compatibility and transportation noise exposure standards in the existing Noise Element. Future development is required to comply with the City Noise Element and Noise Control Ordinance which require site-specific mitigation for development; therefore, Page 330 of 399 Addendum to IS/MND for the 2018 Zoning Regulations Update 9 impacts were determined to be less than significant. The proposed density revisions would not allow construction in areas not contemplated by the LUCE or Zoning Regulations Update and would not increase the construction potential of a property which would still be governed by FAR, height, and lot coverage standards. No new impacts related to transportation noise beyond what was identified in the MND would occur and no new mitigation measures are required. The MND, citing the 2014 LUCE FEIR, determined that the Zoning Regulations Update could facilitate development that would increase stationary source noise levels exceeding the thresholds of the City’s Noise Element and Noise Control Ordinance. Noise Element policies and standards would require all future development to comply with the City’s adopted noise standards, noise mitigation procedures, and sensitive land use siting policies, including site‐specific noise studies and mitigation measures, if necessary, to ensure that the development meets noise thresholds. Because the City’s Noise Element contains policies and programs that address and mitigate potential site‐specific impacts for individual projects, this impact was determined to be less than significant. The proposed density revisions would not allow construction in areas not contemplated by the LUCE or Zoning Regulations Update, would not increase the construction potential of a property that would still be governed by FAR, height, and lot coverage standards, and would not alter the policies and standards governing noise. No new impacts related to stationary source noise beyond what was identified in the MND would occur and no new mitigation measures are required. Population/Housing. As documented in the 2014 LUCE FEIR, as of January 2013, the City has a population of 45,541, and is expected to have a population increase of 4,613 people by 2035. LUCE Policy 1.11.2 Residential Growth Rate, states that the City shall manage the growth of the city's housing supply so that it does not exceed one percent per year, on average, based on thresholds established by Land Use Element Table 3 [One Percent City Population Growth Projection]. Because of the annual growth rate limitation, impacts were determined to be less than significant. The MND did not identify any new or more significant impacts on the population beyond what was identified in the 2014 LUCE FEIR and no mitigation measures were required. Based on the 2021 General Plan Annual Report, the City has maintained a 0.81 percent growth rate since 2015. Housing in the Downtown Core (C-D Zone) is exempt from the City’s Residential Growth Ordinance, so the potential increase in residential units would not be in conflict with the General Plan. The proposed density revisions would positively impact the jobs-to-housing ratio within the City, which is consistent with LUCE Policy 1.5 which states that the City’s housing stock should keep pace with the growth in employment so that the jobs-housing balance would not worsen. The proposed density revisions would not result in new or more significant impacts beyond what was identified in the MND and no new mitigation measures are required. The MND determined that the Zoning Regulations Update would not result in a loss of housing or displace existing residents. Housing Element Program 3.10 states that “continue to encourage the creation of dwellings in the Downtown Core (C-D Zone) and the Downtown Planning Area by continuing the "no net housing loss" program, consistent with Chapter 17.86 (Downtown Housing Conversion Regulations) of the Zoning Regulations”. The Zoning Regulations Update retained the statement that “development projects within the Downtown Planning Area shall not result in a net housing loss.” The MND did not identify any new or more significant impacts beyond what was identified in the 2014 LUCE FEIR and no mitigation measures were required. The proposed density revisions would not alter the no net loss requirements of the Zoning Regulations or Housing Element. No new or more significant impacts beyond what was identified in the MND would occur and no new mitigation measures are required. Page 331 of 399 Addendum to IS/MND for the 2018 Zoning Regulations Update 10 Public Services. Fire. The MND cited the 2014 LUCE FEIR, which determined that new residential development facilitated by the LUE would place additional service demands on the San Luis Obispo Fire Department (SLOFD) and that the increased service demands would have the potential to result in a significant environmental impact if new or physically altered fire service facilities would be required to ensure that the City’s four-minute response standard was achieved. Mitigation was identified in the 2014 LUCE FEIR that the Safety Element be updated to include policy so that new development can only be approved when adequate fire services and facilities are available or would be made available by the new development. The MND did not identify any new or more significant impacts to fire services beyond what was identified in the 2014 LUCE FEIR and no mitigation measures were required. The Safety Element was recently updated in 2023 as the Climate Adaptation and Safety Element (CASE) which includes Policy FI-5.3 (City-Wide Fire- Smart New Development) that ensures that adequate fire services and facilities are available for all new developments. The proposed density revision would have the potential to increase the residential population in the Downtown Core. However, CASE Policy FI-5.3, which replaced the Safety Element policy referenced in the MND, would not be altered, and future development could only be approved if adequate fire services and facilities exist. No new or more significant fire service impacts beyond what was identified in the MND would occur and no new mitigation measures are required. Police. The MND cited the 2014 LUCE FEIR, which determined that new residential development facilitated by the LUE would place additional service demands on the San Luis Obispo Police Department (SLOPD) and that the increased service demands would have the potential to result in a significant environmental impact if new or physically altered police service facilities would be required to ensure that the City’s officer to population standard was achieved. However, this impact was determined to be less than significant because new or altered police facilities to meet the officer-to-population standard would be required to meet community design guidelines, and its location would need to meet the response time needs of the community. The MND did not identify any new or more significant impacts on police services beyond what was identified in the 2014 LUCE FEIR and no mitigation measures were required. The proposed density revision would have the potential to increase the residential population in the Downtown Core. With additional officers, there could be additional need for evidence and equipment storage, locker space, area to park police vehicles, and support staff (and their associated space needs) necessary to support additional officers. However, consistent with the MND, the proposed density revisions are unlikely to result in adverse physical impacts associated with the provision of new or altered facilities needed to maintain the existing ratio of officers to the population served because any new or reconstructed facility would be required to meet community design guidelines, and its location would need to meet the response time needs of the community. No new or more significant impacts beyond what was identified in the MND would occur and no new mitigation measures are required. Schools. The MND determined that residential development associated with the Zoning Regulations Update would increase the population of the City which would likely increase the number of children attending the City’s public schools. With the payment of Government Code Section 65970 school impact fees, impacts were determined to be less than significant. The MND did not identify any new or more significant impacts to school facilities beyond what was identified in the 2014 LUCE FEIR and no mitigation measures were required. The proposed density revision would have the potential to increase the residential population in the Downtown Core, but all new development would be required to pay any applicable school impact fees. No new or more significant schools impacts beyond what was identified in the MND would occur and no new mitigation measures are required. Page 332 of 399 Addendum to IS/MND for the 2018 Zoning Regulations Update 11 Parks. Citing the 2014 LUCE FEIR, upon buildout of development allowed by the LUCE and Zoning Regulations, the City’s parkland per capita would increase from 3.32 acres per 1,000 residents to 3.44 acres per 1,000 residents with the addition of approximately 52 acres of parkland. The MND determined that impacts to parks would be less than significant as projects are evaluated on a case-by-case basis to determine the level of project-specific open space or park area required. The MND did not identify any new or more significant impacts to park facilities beyond what was identified in the 2014 LUCE FEIR and no mitigation measures were required. The proposed density revision would have the potential to increase the residential population in the Downtown Core by 500 units, which would require approximately 5-10 additional acres of parkland to meet the City’s goal of 10 acres per 1,000 residents. However, consistent with the MND, all projects implemented as a result of the proposed density revisions would be evaluated on a case-by-case basis to determine the level of project-specific open space or park area required. No new or more significant park impacts beyond what was identified in the MND would occur and no new mitigation measures are required. Recreation. The MND determined that existing General Plan policies applicable to the development of future recreational facilities would reduce potential environmental impacts to less than significant. Most of the future parkland to be provided in the city would be constructed as part of the buildout of previously approved (Margarita, Orcutt, San Luis Ranch, Avila Ranch, Froom Ranch) Specific Plans. There are several park and recreation facilities within the Downtown Planning Area (Figure 1), including Cheng Park, Mitchell Park, Triangle Park, Mission Plaza, Mission Plaza Extension, San Luis Creek Open Space, Jack House Gardens, Emerson Park, and Ludwick Community Center. Planned parks in the Downtown Planning Area include Monterey Street Plaza, Toro/Marsh Pocket Park, Courthouse Park, Higuera Street Plaza, Rosa Butron Adobe, and Diagonal Paseo. The proposed density revisions would be required to comply with existing General Plan policies for construction of new recreational facilities; however, due to the built-out condition of the Downtown Core, it is unlikely that new or additional recreation facilities would be constructed as a result of development facilitated by the proposed density revisions. No new or more significant recreation impacts beyond what was identified in the MND would occur and no new mitigation measures are required. Transportation/Traffic. The MND, citing the 2014 LUCE FEIR, determined that development facilitated by the Zoning Regulations Update would result in significant and unavoidable impacts on congestion on the City’s roadways (level of service), specifically to the following eight roadway segments would experience significant impacts due to increases in volumes: Broad (entire corridor south of South Street, South – Orcutt, Orcutt – Tank Farm Road and Buckley – South City Limit); Chorro (Foothill – Lincoln; Los Osos Valley Road (just west of the City Limits); and Prado (US 101 – Higuera and Higuera – Broad). The MND did not identify any new or more significant impacts to roadway congestion and no mitigation measures were required. After the adoption of the MND, the CEQA checklist was revised to replace level of service (congestion) with vehicle miles traveled (VMT) as the preferred metric for evaluating a project’s transportation impacts, in compliance with SB 743. In June 2020, the City formally adopted the transition from LOS to VMT for the purposes of CEQA evaluation and also established local VMT thresholds of significance. While VMT was not specifically analyzed in the 2014 LUCE FEIR, its current inclusion in the CEQA checklist does not warrant an analysis of the entire project unless the project changes would result in new or more severe significant environmental impacts or unless there is new information of substantial importance that was not known at the time of the 2014 LUCE FEIR. Page 333 of 399 Addendum to IS/MND for the 2018 Zoning Regulations Update 12 The proposed density revisions are not anticipated to result in VMT impacts as the potential dwelling units associated with the density revisions would be located downtown, in close proximity to the City’s transit station, the train station/Amtrack, shopping, dining, recreation, and offices. Per the City’s Transportation Impact Study Guidelines VMT Screening Map, while lacking specific data for the Downtown Core, is adjacent to and surrounded by areas with residential VMT per capita that is less than 85% of the regional average. Therefore, the proposed density revisions would not create new or more significant impacts beyond what was identified in the MND and no new mitigation measures are required. Tribal Cultural Resources. The MND determined that development facilitated under the Zoning Regulations Update would result in impacts to tribal cultural resources. This impact was determined to be less than significant with the adherence to the City’s Archaeological Resource Preservation Program Guidelines and compliance with federal and state regulations. The MND did not identify any new or more significant impacts to tribal cultural resources beyond what was analyzed in the 2014 LUCE FEIR. The proposed density revisions would not make any changes to the LUCE and COSE or the Archaeological Resource Preservation Program Guidelines and would not allow new development in areas not contemplated by the LUCE or Zoning Regulations Update. No new impacts to tribal cultural resources beyond what was identified in the MND would occur and no new mitigation measures are required. Utilities/Service Systems. Wastewater. The 2014 LUCE FEIR determined that buildout of development allowed under the LUCE would exceed the capacity of the City’s Water Resource Recovery Facility by 0.26 million gallons per day. However, this impact was determined to be less than significant because at the time the City was proposing to upgrade the Water Resource Recovery Facility to increase in average dry weather flow (ADWF) capacity to serve the buildout of the LUCE, and because policies in the LUCE and the Water and Wastewater Element require projects to demonstrate that adequate treatment capacity at the Water Resource Recovery Facility exists. The MND determined that the Zoning Regulations Update would result in similar impacts as those disclosed in the 2014 LUCE FEIR and no new or more significant impacts to wastewater were identified. The City’s Water Resource Recovery Facility has since been completed and is operational with a capacity of 5.2 million-gallons-per-day. The proposed density revisions would allow an additional 500 units in the Downtown Core and would generate between 45 and 105 gallons of wastewater per day per unit, based on the City’s wastewater generation rates (0.5-1.2 acre-feet-per-year total). The Downtown Core is not within a sewer capacity-constrained area and future development would be required to demonstrate that adequate treatment capacity at the Water Resource Recovery Facility exists prior to construction. No new impacts to wastewater beyond what was identified in the MND would occur and no new mitigation measures are required. Water. The MND, citing the 2014 LUCE FEIR, determined that buildout of development facilitated by the Zoning Regulations Update would require a water supply of 7,815 acre-feet-per-year. The City’s current water supply totals approximately 10,630 acre-feet-per-year, which exceeds the demand that would be generated by the LUCE buildout/Zoning Regulations buildout. Impacts were determined to be less than significant and no new or more significant impacts to waster were identified. Based on the assumptions in the LUCE2, and assuming any residential units constructed under the proposed density revisions would be single or double occupancy, the proposed density revisions would result in approximately 127 to 254 additional acre-feet-per-year of water demand. This would bring the LUCE projected water demand to 7,942 to 8,069 acre- 2 Assumes water reduction requirements of SBX7‐7 would reduce per capita water use to 117 gallons per day by 2020. Page 334 of 399 Addendum to IS/MND for the 2018 Zoning Regulations Update 13 feet-per-year, which is within the City’s water supply of approximately 10,630 acre-feet-per-year. No new impacts to water beyond what was identified in the MND would occur and no new mitigation measures are required. Stormwater. The MND determined that future development could cause an increase in the amount of impervious surfaces within the City which could increase the volume of surface runoff into City stormwater systems. Impacts were determined to be less than significant because future development would be required to comply with Central Coast Regional Water Quality Control Board Post Construction Requirements and the City’s Storm Water Management Program. The MND did not identify any new or more significant impacts related to stormwater beyond what was identified in the 2014 LUCE FEIR and no mitigation measures were required. The proposed density revisions would not allow new development in areas not contemplated by the LUCE or Zoning Regulations Update and would not increase the total development potential of a parcel, which currently allows 100% lot coverage (and 100% impervious surface). No new impacts related to stormwater beyond what was identified in the MND would occur and no new mitigation measures are required. Solid Waste. The MND determined that the Zoning Regulations Update would not interfere with the City’s ability to comply with solid waste management and diversion regulations. Additionally, LUCE Policy 1.13.10 requires the City to determine if adequate solid waste disposal capacity exists prior to approving future development. The MND did not identify any new or more significant impacts related to solid waste disposal beyond what was identified in the 2014 LUCE FEIR and no mitigation measures were required. The proposed density revisions would not increase the total development potential of a parcel and new development would only be allowed if adequate solid waste disposal capacity exists, per LUCE policy. No new impacts related to solid waste beyond what was identified in the MND would occur and no new mitigation measures are required. BASIS FOR ADDENDUM In accordance with Section 15164 of the State CEQA Guidelines, the City of San Luis Obispo has determined that this Addendum to the adopted MND is necessary to document changes or additions that have occurred in the project description since the MND was originally adopted. The changes proposed are relatively minor in nature and, as documented above, would not result in any new significant environmental effects or a substantial increase in the severity of previously identified significant effects. Additionally, no new information of substantial importance that was not known and could not have been known with the exercise of reasonable diligence at the time the previous MND was adopted has been identified. The City has reviewed and considered the information contained in this Addendum and finds that the preparation of subsequent CEQA analysis that would require public circulation is not necessary. This Addendum does not require circulation because it does not provide significant new information that changes the adopted MND in a way that deprives the public of a meaningful opportunity to comment upon a substantial adverse environmental effect of the project or a feasible way to mitigate or avoid such an effect. The City shall consider this Addendum with the adopted MND as part of the approval of the proposed ordinance. Page 335 of 399 EXHIBIT B: DRAFT CITY COUNCIL ORDINANCE O _____ ORDINANCE NO. _____ (2023 SERIES) AN ORDINANCE OF THE CITY COUNCIL OF THE CITY OF SAN LUIS OBISPO, CALIFORNIA, AMENDING TITLE 17 (ZONING REGULATIONS) OF THE MUNICIPAL CODE TO INCORPORATE A DOWNTOWN FLEXIBLE DENSITY PROGRAM FOR QUALIFYING RESIDENTIAL PROJECTS. PROJECT IS CONSISTENT WITH THE PREVIOUS MITIGATED NEGATIVE DECLARATION FOR THE 2018 COMPREHENSIVE ZONING REGULATIONS UPDATE (DOWNTOWN FLEXIBLE DENSITY PROGRAM, CODE-0017-2023) WHEREAS, on February 5, 2019, the City of San Luis Obispo adopted a comprehensive update of the Zoning Ordinance (2018 Zoning Ordinance); and WHEREAS, on November 17, 2020, the City Council of the City of San Luis Obispo conducted a public hearing in the Council Chamber of City Hall, 990 Palm Street, San Luis Obispo, California on November 17, 2020, for the purpose of final adoption of the sixth cycle update to the General Plan Housing Element that included Program 2.15 that states, “Evaluate a flexible density pilot program and initiate an update of the Zoning Regulations and Community Design Guidelines to incorporate flexible density development options in Downtown Core and portions of Upper Monterey and Mid- Higuera Special Focus Areas to support the production of 50 smaller residential units (150 to 600 square feet) per year during the planning period”; and WHEREAS, the 6th Cycle Housing Element includes Policy 6.6 that states, “Consistent with the City’s goal to stimulate higher density infill where appropriate in the Downtown, Upper Monterey, and Mid-Higuera Special Focus Areas, the City shall consider changes to the Zoning Regulations that would allow for flexible density standards that support the development of smaller apartments and efficiency units”; and WHEREAS, the Planning Commission of the City of San Luis Obispo conducted a public hearing in the Council Chamber of City Hall, 990 Palm Street, San Luis Obispo, California on February 22, 2023, for the purpose of considering the various amendments to Title 17 (Zoning Regulations) of the Municipal Code to implement the Downtown Flexible Density Program; and WHEREAS, the City Council of the City of San Luis Obispo conducted a public hearing in the Council Chamber of City Hall, 990 Palm Street, San Luis Obispo, California on _____________, 2023, for the purpose of considering the various amendments amendment to Title 17 (Zoning Regulations) of the Municipal Code to implement the Downtown Flexible Density Program; WHEREAS, the City Council finds that the proposed amendment is consistent with the General Plan, Zoning Regulations, and other applicable City goals and policies as amended; and WHEREAS, notices of said public hearing were made at the time and in the manner required by law. Page 336 of 399 Ordinance No. _____ (2023 Series) EXHIBIT B O _____ WHEREAS, the City Council has duly considered all evidence, including the testimony of the applicant, interested parties, and the evaluation and recommendations by staff, presented at said hearing. NOW, THEREFORE, BE IT ORDAINED by the Council of the City of San Luis Obispo as follows: SECTION 1. Incorporation of Recitals. The City Council find that the foregoing recitals and administrative report presented with this ordinance are true and correct and are incorporated in the ordinance by this reference and adopted as t he findings of the City Council. SECTION 2. Findings. Based upon all the evidence, the City Council makes the following finding: 1. The proposed amendments to Title 17 to implement the Downtown Flexible Density Program will not cause significant health, safety, or welfare concerns since the amendments are consistent with the General Plan and directly implement City goals and polices. 2. The proposed amendments to Title 17 of the Municipal Code are consistent with the 6th Cycle Housing Element Program 2.15 which states “Evaluate a flexible density pilot program and initiate an update of the Zoning Regulations and Community Design Guidelines to incorporate flexible density development options in Downtown Core and portions of Upper Monterey and Mid-Higuera Special Focus Areas to support the production of 50 smaller residential units (150 to 600 square feet) per year during the planning period .” 3. The proposed amendment to Title 17 of the Municipal Code are also consistent with the 6th Cycle Housing Element Policy 6.6 which states “Consistent with the City’s goal to stimulate higher density infill where appropriate in the Downtown, Upper Monterey, and Mid-Higuera Special Focus Areas, the City shall consider changes to the Zoning Regulations that would allow for flexible density standards that support the development of smaller apartments and efficiency units.” SECTION 3. Environmental Determination. Pursuant to CEQA Guideline 15164, an addendum to the Initial Study / Negative Declaration for the Zoning Regulations Update (GENP-0327-2017) was prepared for the proposed Downtown Flexible Density Program. The addendum concluded the following: i. Pursuant to Section 15162 of the State CEQA Guidelines , a subsequent environmental impact report is not required because: a) The project changes do not result in new or more severe environmental impacts. b) The circumstances under which the project is undertaken will not require major changes to the adopted Negative Declaration , and c) The modified project does not require any new mitigation measures. Page 337 of 399 Ordinance No. _____ (2023 Series) EXHIBIT B O _____ ii. The proposed Downtown Flexible Density Program, including proposed amendments identified in this Addendum, would make revisions, additions, corrections and clarifications to various sections of the Zoning Regulations to ensure consistency and successful implementation of the Housing Element. The proposed Downtown Flexible Density Program and associated amendments to Municipal Code Title 17 are consistent with the scope of the previously-approved Comprehensive Zoning Regulations Update. iii. The changes are consistent with State Law, the City of San Luis Obispo Climate Action Plan, and the City of San Luis Obispo General Plan. Based on the foregoing, the City Council does hereby adopt the Addendum to the Initial Study Negative Declaration that was prepared for the Comprehensive Zoning Regulations Update for the Downtown Flexible Density Program, as provided in Exhibit A. SECTION 4. Section 17.70.040.A.3, entitled “Maximum Residential Development Potential” is hereby amended to add a new subsection “a” entitled “Downtown Flexible Density Program”, and reads as follows: 3. Maximum Residential Development Potential. Maximum residential development potential shall be the net lot area (in whole and fractional acres), multiplied by the maximum density allowed (in density units per acre) according to Subsections A.1 through A.2, above. The resulting number (in density units, carried out to the nearest one hundredth unit) will be the maximum residential development potential. Any combination of dwelling types and numbers may be developed, so long as their combined density unit values do not exceed the maximum potential. a. Downtown Flexible Density Program. Properties zoned C-D or C-R within the Downtown Core may be developed at a residential density that is greater than the base density for the zone in which the lot is located, subject to the provisions outlined in Chapter 17.141 (Downtown Flexible Density Program). SECTION 5. Section 17.70.130.D.1.a, entitled “Ground Floor Limitations” is hereby amended to read as follows: a. Ground Floor Limitations. In the Downtown Core (as shown in Section 17.141.020, Figure 8-1) and the C-D zone, residential units shall not occupy any ground floor space. In all other zones, residential units shall not occupy more than 50 percent of the ground floor space within the first 50 feet of floor area measured from each building face adjacent to a street toward the rear of the building, with no more than 30 percent of the building frontage to be occupied by residential uses. SECTION 6. Section 17.138.020.A, is hereby amended to add a new subsection “8”, and reads as follows: A. This Chapter shall apply to all residential development projects, except the following types of residential development projects are exempt: Page 338 of 399 Ordinance No. _____ (2023 Series) EXHIBIT B O _____ 1. Residential additions, repairs, or remodels, provided that such work does not increase the number of existing dwellings; 2. The addition or inclusion of Accessory Dwelling Units (ADUs) or Junior Accessory Dwelling Units (JADUs) associated with an existing or proposed residential or mixed-use development; 3. Affordable housing projects in which 100 percent of the dwellings to be built will be sold or rented in conformance with the City’s Affordable Housing Standards (excluding any on-site manager unit); 4. Housing projects that include a density bonus. 5. Emergency projects or projects which the Council determines are necessary to protect public health and safety; 6. Development projects which the Director determines are essentially noncommercial or nonresidential in nature, which provide educational, social, or related services to the community and which are proposed by public agencies, nonprofit agencies, foundations, and other similar organizations; 7. Projects which replace or restore a structure damaged or destroyed by fire, flood, earthquake, or other disaster within three years prior to the application for the new structure(s) (see Chapter 17.92 Nonconforming Structure); 8. Residential units that qualify under the Downtown Flexible Density Program (see Chapter 17.141). SECTION 7. Chapter 17.141, entitled “Downtown Flexible Density Program” is hereby added to Municipal Code Title 17 Article 8, to read as follows: Chapter 17.141 – Downtown Flexible Density Program 17.141.010 – Purpose and Intent The provisions in this Chapter are intended to carry out a key program directed by the 2014 General Plan Land Use Element, and the 2020 Housing Element to implement the Downtown Flexible Density Program. The Program is intended to facilitate the construction of smaller housing units within the City’s Downtown Core by relaxing density limitations for qualifying units and providing development standard incentives. The Program will be in effect until January 1, 2029, or until 500 residential units have been entitled or permitted, whichever occurs first. 17.141.020 - Applicability The Downtown Flexible Density Program eliminates residential density requirements for units less than 600 square feet in size. Projects that qualify under this Chapter may be developed at a residential density that is greater than the base density for the zone in which the lot is located. Page 339 of 399 Ordinance No. _____ (2023 Series) EXHIBIT B O _____ A. Location. The Downtown Flexible Density Program shall only be available to properties zoned C-D or C-R within the Downtown Core as shown in the Figure 8- 1 (Downtown Core). B. Residential Units. The Downtown Flexible Density Program is limited to studio or one-bedroom units that are less than 600 square feet, all other residential units 600 square feet or larger shall conform to the standard density limitations of the underlying zone. 1. The provisions of this Chapter shall not apply to projects that include a request for a density bonus in accordance with Section 17.140.040 (Standard Incentives for Housing Projects). Standard density limitations shall apply to any project that includes a request for a density bonus, in accordance with Section 17.70.040.A.1 (Density Calculation – General). Page 340 of 399 Ordinance No. _____ (2023 Series) EXHIBIT B O _____ Figure 8-1: Downtown Core Page 341 of 399 Ordinance No. _____ (2023 Series) EXHIBIT B O _____ 17.141.030 - Development Standards Incentives Applications submitted for review in accordance with this Chapter shall conform to all applicable development standards of the underlying zone, including but not limited to height, setbacks, floor area ratios, and building lot coverage, unless otherwise st ated in this Chapter or prohibited by state law. A. Residential Density. Residential units that are less than 600 square feet in size and limited to a studio or one-bedroom configuration may exceed the base density for the zone in which the lot is located, in accordance with all provisions of this Chapter. For the purposes of this Program, qualifying units shall have a density unit value of 0.0, rather than the standard 0.5 density unit. 1. Standard density limitations shall apply to all residential units that are larger than 600 square feet or include two or more bedrooms, in acc ordance with Section 17.70.040.A.1 (Density Calculation – General). B. Inclusionary Housing Exemption. Residential units less than 600 square feet that are of a studio or one-bedroom configuration shall be exempt from inclusionary housing requirements, as described in Section 17.138.040 (Inclusionary Housing Requirements), subject to the following: 1. Commercial Linkage fees shall apply (Municipal Code Chapter 4.60). 2. Residential units 600 square feet or larger shall be subject to the standard Inclusionary Housing Requirements (Chapter 17.138: Inclusionary Housing Requirements). C. Parking Requirements. Vehicle parking requirements shall be required in accordance with Chapter 17.72 (Parking and Loading), except as otherwise provided below; 1. Minimum Parking Requirements. Qualifying units under the Downtown Flexible Density Program shall require minimum parking rate of one-half that required in Table 3-4: Parking Requirements by Use. 17.141.040 - Review Procedures All new construction projects including additions or alterations to existing buildings that include new units that qualify under this Chapter shall be subject to the City’s discretionary development review process, unless otherwise exempt, as outlined in Chapter 17.106 (Development Review). 17.141.050 - Program Duration The Flexible Density Program shall have an initial duration consistent with the current Housing Element Cycle and expire on January 1, 2029, or until 500 new residential units are entitled or permitted under this program, whichever occurs first. A. Exclusion of Affordable Housing Units. Housing units that are deed restricted as affordable to moderate-income or below households, as defined in the City’s Below Market Rate Housing Standards, will not count towards the 500 -unit Program limit. Page 342 of 399 Ordinance No. _____ (2023 Series) EXHIBIT B O _____ B. Pending Applications. Any application for new development that is deemed complete prior to the expiration of the Program term as established in this Section, may continue to be processed in accordance with this Chapter. SECTION 8. Chapter 17.142, entitled “Downtown Housing Conversion Regulations” Figure 8-1 (Downtown Planning Area and Downtown Core) is hereby relabeled as 8-2, respectfully, including all text references throughout Title 17. SECTION 9. Section 17.144.020, entitled “Standard Incentives for Housing Projects” subsection “D” is hereby amended to read as follows: D. Dwellings affordable and enforceably restricted to residents with extremely low, very low, low, or moderate incomes, as defined in the City’s General Plan Housing Element, new dwellings in the Ddowntown Ccore (C-D zone as shown on the official zoning map), and legally established accessory dwelling units shall be exempt from these regulations. Enforceably restricted shall mean dwellings that are subject to deed restrictions, development agreements, or other legal mechanisms acceptable to the City to ensure long-term affordability, consistent with City affordable housing standards. In expansion areas, the overall number of units built must conform to the City approved phasing plan. SECTION 10. Severability. If any subdivision, paragraph, sentence, clause, or phrase of this Ordinance is, for any reason, held to be invalid or unenforceable by a court of competent jurisdiction, such invalidity or unenforceability shall not affect the validity or enforcement of the remaining portions of this Ordinance, or any other provisions of the city's rules and regulations. It is the city's express intent that each remaining portion would have been adopted irrespective of the fact that any one or more subdivisio ns, paragraphs, sentences, clauses, or phrases be declared invalid or unenforceable . Page 343 of 399 Ordinance No. _____ (2023 Series) EXHIBIT B O _____ SECTION 11. Implementation. A summary of this ordinance, together with the names of Council members voting for and against, shall be published at least five (5) days prior to its final passage in The New Times, a newspaper published and circulated in this City. This ordinance shall go into effect at the expiration of thirty (30) days after its final passage. INTRODUCED on the ___ day of ___, 202 3, AND FINALLY ADOPTED by the Council of the City of San Luis Obispo on the ___ day of ___, 202 3, on the following vote: AYES: NOES: ABSENT: __________________________ Mayor Erica A. Stewart ATTEST: _______________________ Teresa Purrington City Clerk APPROVED AS TO FORM: ________________________ J. Christine Dietrick City Attorney IN WITNESS WHEREOF, I have hereunto set my hand and affixed the official seal of the City of San Luis Obispo, California, on ______________________. ___________________________ Teresa Purrington City Clerk Page 344 of 399 Downtown Flexible Density Program Title 17 Amendments March 21, 2023 Introduce a draft Ordinance amending Title 17 (Zoning Regulations) of the Municipal Code to implement Housing Element Program 2.15 and Policy 6.6 to provide a Downtown Flexible Density Program. Downtown Flexible Density Program Background 2 2014 Land Use Element directed the City to consider alternatives to standard density thresholds in Downtown. Discussed in the 2017 Downtown Concept Plan. Identified in the 2018 Comprehensive Zoning Regulations Update:Flexible Density White Paper. Identified in the 2020 Climate Action Plan as a program initiative (Connected 5.1). Memorialized in the 2020 Housing Element Update: Program 2.15 and Policy 6.6. Identified as one of SLO’s Major City Goals for 2021- 2023:Housing and Homelessness. Housing Program Initiatives 3 ▪The Flexible Density Program is only one tool to achieve housing objectives. ▪Additional tools the City utilizes are: ▪Fractional density units -Production ▪Minimum density allowances –Production ▪Tiered impact fee structure that incentivizes smaller units –Production ▪Ministerial review of ADUs and JADUs –Streamlining/Production ▪SB 9 –H.O.M.E.Act –Streamlining/Production ▪Streamlined Development Review process –Streamlining ▪Objective Design Standards –Streamlining ▪Density Bonus Regulations –Affordable Housing ▪Inclusionary Housing Requirements –Affordable Housing Housing Element 4 Program 2.15: Evaluate a flexible density pilot program and initiate an update of the Zoning Regulations and Community Design Guidelines to incorporate flexible density development options in Downtown Core and portions of Upper Monterey and Mid-Higuera Special Focus Areas to support the production of 50 smaller residential units (150 to 600 square feet) per year during the planning period. Key Program Features 5 1.Reduces density thresholds for qualifying units: limited to less than 600 sf in size (studio or one-bedroom configuration). 2.​​Prohibited on the ground floor. 3.Limited to the C-D or C-R zone within Downtown Core. 4.Reduced minimum parking requirements for qualifying units in the C-R zone (no changes in the C-D zone). DROP Program available. 5.Qualifying units exempt from Inclusionary Housing Requirements as an incentive. 6.Program is not available in conjunction with Density Bonus projects. 7.Expires on January 1, 2029, or until 500 new residential units are entitled or permitted, whichever occurs first. 8.No changes to the Development Review process. 9.No changes to development standards, other than density 10.No vacation rentals allowed. 450 square feet 600 square feet Example Project Site 6 Location: Downtown Core Lot Area: 0.23 acres (10,000 sf) Lot Coverage: 100% (100% allowed) Building Height: 4 stories (45 feet) Floor Area Ratio: 3.0 (3.0 allowed) Building Area: 30,000 sf (30,000 sf allowed) Ground Floor Use: Retail –10,000 sf Density: 8.26 units/acre (36 units/acre allowed) Number of Units: 8 two-bed units (or 16 one-bed/studio units). Residential Capacity –Density Thresholds 7 Density is regulated by the number of dwelling units per acre of a site. The City of SLO provides density allocations based on number of bedrooms Existing Fractional Density Thresholds; Studio/1-bed units (<600 sf) = 0.5 Density Units 1-bed units (<1,000 sf) = 0.66 2-bed units = 1.0 3-bed units = 1.5 4-bed+ units = 2.0 Flexible Density Program Change; Studio/1-bed units (<600 sf) = 0.0 Density Units Ex. Existing Density Standards –Fractional Density C-D or C- R zone Lot Area (sf*)Acres Density Allowance Available Density Maximum # of Units Example Property 10,000 0.23 36 Density Units/ Acre 8.26 8 two-beds or 16 units (<600 SF) Residential Capacity – Floor Area Ratio (FAR) 8 FAR regulates the intensity of development through a combination of height and lot coverage standards. Maximum FAR in the Downtown Core is 3.0 Example Project: ➢Building Area: 30,000 SF ➢Ground Floor Retail: -10,000 SF ➢Remaining Building Area: 20,000 SF Flexible Density Program Change; 20,000 SF / 550 SF* = 36 units *Average Unit Size <600 SF Ex. Downtown Flexible Density Program Example Property Lot Area (sf*) 3.0 FAR (sf) Ground Floor Retail (sf) Remaining Building Area (sf) Maximum # of Units Existing Standards 10,000 30,000 10,000 20,000 16 units (<600 SF) Proposed Change 10,000 30,000 10,000 20,000 36 units (<600 SF) Flexible Density Program –Parking 9 In 1981, parking requirements were reduced in the C-D zone to ½ that required elsewhere in the City. The parking in-lieu fee district was established in 1987. No changes are proposed to parking requirements in the C-D zone or to the Parking In-Lieu Fee District. The parking incentive under the program is limited to qualifying units in the C-R zone. There are over 2,600 public parking spaces in Downtown. Downtown residents are eligible to participate in the Downtown Residential Overnight Parking (DROP) Program. Flexible Density Program –Parking 10 C-R Zone -Existing Parking Requirements: ➢Retail (1/300 sf) ➢Residential (0.75 per bedroom plus guest parking ~ 1/5 units) *minimum 1 space per unit C-D Zone -Existing Parking Requirements: ➢Retail (1/500 sf) ➢Residential (1/2 that which is normally required*) *minimum 0.5 space per unit Flexible Density Program Change; ➢Qualifying Units <600 sf (1/2 that which is normally required*) *minimum 0.5 space per unit Planning Commission – Recommendation 11 PC Recommendation: Explore options to reduce or eliminate parking requirements for qualifying units under the program. Response: Removing or reducing parking requirements within the In-Lieu Fee Parking District would; ➢Increase demand on the existing parking facilities, and; ➢Result in deficiencies of funding for new parking facilities and maintenance of existing facilities. Parking Reductions Opportunities 12 In addition to the parking requirements under the Flexible Density Program, projects could still apply for additional parking reductions. ➢Parking reductions greater than 10% require approval by the Planning Commission. ➢A Parking Demand Study is required as evidence to substantiate any parking reduction request. ➢A Vehicle Trip Reduction Plan may be required to reduce parking demand on the site. Public Engagement –PEN Manual 13 Public engagement followed the consult/collaborate approach due to the sensitivity of downtown and interest in housing needs for the community. Public Engagement consisted of; ▪Consultations with various City Departments and Divisions. ▪Open City Hall Community Forum. ▪City News Release. ▪Stakeholder group interviews. ▪Presentations were provided to the Downtown Association Board of Directors, Chamber of Commerce, the Regional Housing Action Team, and the Developer’s Roundtable. Environmental Review 14 Pursuant to CEQA Guideline 15164,an addendum to the Initial Study /Negative Declaration for the Zoning Regulations Update (GENP-0327-2017)was prepared for the proposed Downtown Flexible Density Program. A subsequent environmental impact report is not required because: a)The project changes do not result in new or more severe environmental impacts. b)The circumstances under which the project is undertaken will not require major changes to the adopted Negative Declaration,and c)The modified project does not require any new mitigation measures. The proposed Downtown Flexible Density Program and associated amendments to Municipal Code Title 17 are consistent with the scope of the previously approved Comprehensive Zoning Regulations Update. The changes are consistent with State Law,the City of San Luis Obispo Climate Action Plan,and the City of San Luis Obispo General Plan. Recommendation 15 Introduce the draft Ordinance to adopt the Downtown Flexible Density Program and associated Addendum to the previous environmental review determination. Flexible Density Program –Parking 16 Ex. Downtown Flexible Density Program Example Project C-R Zone C-D Zone Parking Ratio # Parking Spaces Parking Ratio # Parking Spaces Retail Space (SF)10,000 1/300 33 1/500 20 # Standard 2-bed 8 Units .75 / bed (min 1 / unit)12 0.375 / bed (min 0.5 / unit)6 Guest Parking 1 / 5 units 2 1 / 10 units 1 Flexible Density # <600 SF 24 Units 0.375 / bed (min 0.5 / unit)12 0.375 / bed (min 0.5 / unit)12 Guest Parking 1 / 10 units 2 1 / 10 units 2 Total Parking Required:61 -41 Homestay Permits 17 To prohibit Homestay Rentals within qualifying units under the flexible density program,the Council could consider the following amendment to Zoning Regulations Section 17.86.160.D.6,as described below; ▪The homestay shall be limited to only the owner-occupied dwelling unit on the property. Homestays shall not be permitted within Recreational Vehicles,qualifying units under the Downtown Flexible Density Program,or within Accessory Dwelling Units. This change would require review by the Planning Commission Density Bonus 18 Density Bonus and the Downtown Flexible Density Program provide similar objectives for increasing residential capacity, However,they are not compatible with one another. Staff does not recommend combining the two programs as the provisions that are afforded under the Downtown Flexible Density Program would be inconsistent with the provisions under Density Bonus Law,specifically regarding the elimination of applying density thresholds for units of less than 600 square feet. Inclusionary Housing Requirements 19 Table A -Inclusionary Housing Requirements Example Project Number of Units Size of Units Fee Ratio In-lieu Fee Inclusionary Requirement Flexible Unit 24 500 sf*N/A $ -0 Standard Rental Unit 8 1,000 sf $20/sf $ 160,000 In-lieu fee or provide 1 Unit Commercial Space 10,000 sf $5/sf $ 50,000 N/A Total: $ 210,000 In-lieu fee or provide 1 Unit Housing Element 20 Policy 6.6: Consistent with the City’s goal to stimulate higher density infill where appropriate in the Downtown, Upper Monterey, and Mid-Higuera Special Focus Areas,, the City shall consider changes to the Zoning Regulations that would allow for flexible density standards that support the development of smaller apartments and efficiency units. Downtown Core and Planning Area 21 Overview of Development Review Process 22 ▪Exempt projects –Ministerial,no public review process ▪Qualifying projects under Objective Standards (Chapter 17.69) ▪Less than 5 dwellings with average size less than 1,200 square feet. ▪Minor Development Review –No hearing,final action by CDD Director ▪10 units or less. ▪Moderate Development Review –ARC or CHC hearing,final action by CDD Director ▪Between 11 and 49 units. ▪Major Development Review –ARC/CHC hearing,final action by Planning Commission ▪50 units or more. ▪All significant additions,and new construction in the C-D zone. Overview of Existing Development Standards 23 Existing Development Standards for the Downtown Core Development Standards C-D Downtown Commercial C-R Retail Commercial Maximum Density 36 units/acre Minimum Street Yard No street setback Minimum Other Yard As provided in zone of adjacent lot, or Edge Conditions Maximum Building Height 50-75 feet 45 feet Maximum Floor Area Ratio 3.0 –4.0 FAR; varies with building height 3.0 FAR Maximum Lot Coverage 100% Minimum Lot Area (sf*)3,000 9,000 Minimum Required Parking Half the requirement of Table 3-4 Table 3-4: Parking Requirements by Use Overview of Existing C-D Standards 24 ▪Limitation on New Driveways ▪Residential Required ▪No Net Housing Loss ▪Minimum Height of 2-stories ▪Maximum Building Height above 50 feet ▪Subject to Community Benefits (affordable housing required) ▪Visual Study required for buildings taller than 30 feet. ▪Upper story step-back requirements Public Engagement –Ideas and Suggestions 25 Public Comment Summary: 1.Increase Affordable Housing requirements 2.Increase opportunities for Active Transportation (i.e. Bike Share) 3.Increase the size of qualifying units 4.Do not reduce the parking requirements 5.Reduce parking requirements even further or eliminate altogether 6.Expand the Downtown Residential Overnight Parking Program 7.Remove the 500-unit limit within the program 8.Expand the program boundaries beyond the Downtown Core 9.Reduce fees / streamline permit process for housing projects 10.Require open air stairs, positive air pressure systems, communal open spaces Examples of units that are less than 600 sf. 26 451 square feet. 600 square feet. 288 square feet 1010 Marsh St., San Luis Obispo, CA 93401 (805) 546-8208 • FAX (805) 546-8641 PROOF OF PUBLICATION (2015.5 C.C.R) STATE OF CALIFORNIA, County of San Luis Obispo, I am a citizen of the United States and a resident of the county aforesaid, I am over the age of eighteen years, and not a party interested in the above entitled matter. I am the principal clerk of the printer of the New Times, a newspaper of general circulation, printed and published weekly in the City of San Luis Obispo, County of San Luis Obispo, and which has been adjudged a newspaper of general circulation by the Superior Court of the County of San Luis Obispo, State of California, under the date of February 5, 1993, Case number CV72789: that notice of which the annexed is a printed copy (set in type not smaller than nonpareil), has been published in each regular and entire issue of said newspaper and not in any supplement thereof on the following dates, to -wit: ka_�cc�rx '�\ in the year 2023. I certify (or declare) under the the penalty of perjury that the foregoing is true and correct. Michael Gould, New Times Legals Mmn n PawV.NnA4 Mme/NCM4 06x/B'J$A'FSSRuyi Nm.yPrm(erJgy Proof of Publication of SAN LUIS OBISPO CITY COUNCIL NOTICE OF PUBLIC HEARING The San Luis Obispo City Council invites all interested persons to attend a public hearing on Tuesday, March 21, 2023 at 5,30 p.m. held in the Council Chambers at City Hall, 990 Palm Street, San Luis Obispo. Meetings can be viewed remotely on Government Access Channel 20 or streamed live from the City's YouTube channel at http://youtube.slo.city. Public comment, prior to the start of the meeting, may be submitted in writing via U.S. Mail delivered to the City Clerk's office at 990 Palm Street, San Luis Obispo, CA 93401 or by email to emailcouncil@slocity.org. PUBLIC HEARING ITEM: • The City Council will introduce an Ordinance amending Title 17 (Zoning Regulations( of the Municipal Code to implement Housing Element Program 2.15 and Policy 6.6 to provide a Downtown Flexible Density Program. The main goals of the program are to help address the local housing demand by facilitating increased higher density residential infill development in the downtown area near employment centers, incentivizing smaller units, and diversifying the City's housing stock. (CODE-DO17-2023) For more information, you are invited to contact Kyle Bell of the City's Community Development Department at (805) 781-7524 or kbetl@slocity.org The City Council may also discuss other hearings or business items before or after the items listed above. If you challenge the proposed project in court, you may be limited to raising only those issues you or someone else raised at the public hearing described in this notice, or in written correspondence delivered to the City Council at, or priorto, the public hearing. Council Agenda Reports for this meeting will be available for review one week in advance of the meeting date on the City's website, under the Public Meeting Agendas web page: https://www.slocity. org/government/mayor-and-city-council/ agendas -and -minutes. Please call the City Clerk's Office at 1805) 781-7114 for more information. The City Council meeting will be televised live on Charter Cable Channel 20 and live streaming on the City's YouTube channel http://youtube.slo.city. March 9, 2023 42 • New -Imes • March 9 - March 16, 2023