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- Recent State amendments to Solid Waste Management laws. <br /> - Department of Ecology revisions to State Solid Waste Management Plan and <br /> regulations. <br /> • WAC 197-11-660(b) requires that "mitigation measures shall be related to specific, <br /> adverse environmental impacts clearly identified (in the EIS)," and based on the City's <br /> SEPA policy. <br /> • The City's SEPA Ordinance, in Section D - Public Services and Utilities, provides this <br /> policy: "To encourage and approve development only where adequate utilities, including <br /> water, sewer, power, communications and drainage facilities are available or will be <br /> made available in conjunction with the proposal." <br /> Conclusions: <br /> • The Responsible Official relying on the EIS, has made the determination that the <br /> proposal (Boeing Expansion) has or will have adequate utility services available. <br /> • The EIS acknowledges the increased amount of water, sewer and solid waste services <br /> likely to be required by the increased population. A change is not per se an adverse <br /> environmental impact. <br /> • The record does not disclose expected significant adverse impacts caused by the project. <br /> • The Responsible Official considered the EIS, and finding no adverse environmental <br /> impact on or from offsite water, sewer, or solid waste services attributable to the <br /> proposal, properly determined that no mitigation was required or authorized under State <br /> and local SEPA regulations. <br /> 74 <br />