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. ' <br /> 10. Lack of comment on the p�ans submitted with the appliration does not constitute <br /> approval of these plans. <br /> 1 I. City sireets and alleys are to be kept clear of dirt and debris at all times during <br /> constr�ction. ,Dust suppression and street cieaning must occur as directed by the <br /> Put�lic Works Inspector. <br /> 12. Placement and screening of refuse disposal areas must be provided per Section <br /> 39.080 of the Zoning Code as foilows: <br /> a. Garbage receptacles, dumpsters, and recycle bins shail be provided in all �nultiple <br /> family, commercial, industrial, and institutional developments and shall not be located <br /> in a r?quired front yard setback area, or street side setback area for corner lots. <br /> Where an alley abuts a lot, the garbage receptacles, dumpster, or recycle bin shali be <br /> located adjacent to the alley. <br /> b. All garbage dumpsters and recycle bins must be screened from view from the <br /> street and from adjacent properties. i his screening may be done using dense <br /> vegetation or by placing the dumpster or recycle bin in a structural enclosure. <br /> c. For specifics on design of refuse and recycling facilities, contact Rubatino Refuse <br /> Removal, Inc. at 259-0044 for areas generally north of 112th Street. For areas east <br /> of I-5 from Valley Vie�v south, contact Waste Management Northwest, Inc. at 337- <br /> 1197. <br /> 13. Any rockeries or retaining walls proposed in required setback areas must be in <br /> conformance with Section 39.150 of the Zoning Code. <br /> 14. Rooftop mechanical equipment, including vents, must be screened per Section <br /> 39.040 of the Zoning Code. <br /> 15. Any future additions made to the shopping center will likely trigger the need for either <br /> a new SEPA review or at a minimum, a SEPA addendum. Major renovations to the <br /> site could also trigger the need for additional improverr:�nts on site, such as <br /> landscaping and other City code requirements. <br /> 16. The Washington State Clean Air Act requires the use of all known, available, and <br /> reasonable means of controlling air pollution, including dust. Dust generated during <br /> construction activities can be controlled by wetting hose dust sources such as areas <br /> of exposed soils, washing truck wheels before they laave the site, and installing and <br /> maintaining gravel construction entrances. Construction vehicle tract-out is also a <br /> major dust source. Any evidence of track-out can trigger viola'.ions and fines from the <br /> Department of Ecology or the Puyet Sound Air Pollu!ion Control Agency. <br /> S:IFSiddiqlWlNV��RDISEPA106-046 SilverLakeShopping final.doc <br /> �y <br />